ASSOCIATIONS 9 develop technologies that will help to improve service delivery in the municipal sector .
The masterplan also encourages retailers and wholesalers to work closely with local manufacturers to identify imported products , especially sanitary ware , as well as tubes and pipes , that could possibly be substituted with locally manufactured goods . There was an earlier call for closer collaboration between merchants and manufacturers to promote locally produced water and sanitation products . However , this is yet to take place .
Another earlier suggestion that has gone unnoticed was to closely monitor the importation of steel products . It was proposed that import rebates only be considered when security of local supply of products could be assured . Security of local supply has not been achieved and rebates on steel products are still in place , undermining local manufacture .
The TIPS report also suggests an urgent review of some of the quality standards for water and sanitation products as they may no longer be fit for purpose . There are concerns that these standards may be too high or low . It is thus important to determine if this is , indeed , the case ; whether it is hindering the local design and manufacture of water and sanitation products – and if so , to what extent .
Reynolds agrees with the findings of TIPS that there are gaps and “ regulatory incoherence ” between the National Water Act , the National Building Standards Act and the National Regulator for Compulsory Specifications Act ( NRCS Act ) that need to be urgently addressed . These loopholes allow the use of sub-standard imported plumbing products with impunity .
He explains , “ The National Water Act has a bearing on the supply and quality of water . It therefore tasks municipalities with the development of by-laws to regulate water in their jurisdictions . Yet , no legislation or capacity exists for policing the regulation of water in buildings . Therefore , building control officers do not inspect water installations , and their duties are limited to wastewater and sewer disposal inside buildings . Moreover , not all of the municipalities employ building control officers .
Meanwhile , the National Building Standards Act , which is housed in The Department of Trade , Industry and Competition , does not stipulate specifications for water supply to buildings , including for water installations . Yet , it prescribes regulations for sewers . There are also significant regulatory inconsistencies between the National Building Standards Act and the NRCS Act that create further ambiguities . As TIPS notes , we need to have a single regulatory framework or at least coherence between the two acts .”
As no legal requirements for the verification of plumbing compliance exist , enforcement of plumbing products and installations remains very poor . The NRCS Act is not authorised to act against noncompliant products other than geysers . Due to a lack of regulation , some retailers have even admitted to stocking sub-standard imported products for their survival . This is despite the risk that this practice poses to consumers who cannot verify whether products are of a suitable quality .
The masterplan also draws attention to insufficient product testing and certification capacity in the country . This has resulted in delays in testing and certification that have prevented manufacturers from taking their products to market timeously which impedes their ability to compete . Many companies have even closed down because they have not been able to attain the necessary certifications within a reasonable timeframe . It is compulsory for products to comply with some standards . Compliance with a single standard usually consists of many test methods at laboratories that are accredited to undertake them . However , the country ’ s various laboratories can only offer partially accredited tests for most compulsory standards . For example , South African National Standards ( SANS ) 226 for metal taps consists of 12 tests . SABS is accredited for eight of these tests ; ATL for seven ; and OMEGA for 11 . TIPS has therefore suggested closer collaboration between private and public sector laboratories to increase testing and certification capacity in South Africa .
It is also time-consuming and costly for manufacturers to attain accreditation from the South African National Accreditation System ( SANAS ) for their products . This further frustrates the efforts of local manufacturers and hampers innovation . The introduction of new and amended standards also requires large capital outlays for laboratories , equipment and training of staff to test . Regulators are loathe to make this type of investment as there are insufficient manufacturers of new products in the country to justify the expense .
The high cost of attaining and maintaining SANAS accreditation also prevents many manufacturers from entering the market . There is also often a lack of understanding of the total cost involved in certifying products , especially new technology , among manufacturers . The lengthy testing process can also be a hindrance . A typical certification process takes at least 32 days and field-testing up to 50 days . Moreover , many water and sanitation goods and services have not been adequately designated or not at all . IOPSA and the Plumbing Industry Registration Board have committed to working with International Trade Administration Commission and the National Regulator for Compulsory Specifications to review and expand water and sanitation-related product designations .
“ The challenges that local designers and manufacturers of water and sanitation products face are extensive and complex and therefore cannot be solved overnight . Considering the severity of our water crisis with Gauteng now also facing acute water restrictions on the back of the country ’ s crumbling sanitation system , we cannot delay any longer . The focus should now be on ensuring that quality water and sanitation products are being used and that we have the local capacity to supply this demand and innovate to find solutions to these challenges . At the same time , a vibrant local plumbing manufacturing industry will help to absorb the many unemployed South Africans , especially the youth . In addition to creating stable employment prospects , the manufacturing industries provide immense opportunity for skills development and training ,” Reynolds concludes . PA
“ The masterplan also draws attention to insufficient product testing and certification capacity in the country .”
January 2023 Volume 28 I Number 11 www . plumbingafrica . co . za