SIMULTANEOUS CONTACT QUESTION - 2 x EV vehicles parked next to each other

Scenario

A remote block of 3 garages, 2 will be fed from separate properties via 40m of 10mm EV SWA connected to 2 individual new CU's

( no cars will be parked inside the garages but charged on the drive in front of the garage door)

1 property is TNC-S - Ze 0.30 Ohms and the other is visually a TNS but with Ze 0.32 Ohms and similar L-N reading.

The 2 chargers will have Pen fault protection and the relevant RCD protection as usual.

There are underground services within 1 -10m of a potential TT rod so could be problematic and a maximum 2.5m between separate garage earth rods is possible.


The concern is simultaneous contact between the 2 vehicles.

Regulation 411.3.1.1 states that “simultaneously accessible conductive parts shall be connected to the same earthing system individually, in groups or collectively.”

I am currently waiting for UK Power networks to confirm the 2 properties are connected to the same earthing system.


The questions are:

Is Pen fault and RCD protection enough when connecting both cars to TNS/TNCS or is there anything else we can do?

Is separate TT earth rods along with simultaneous risk assessment the safest option in this case?

Thank you


I've attached a sketch of the current proposal to help explain.
PDF

  • I assume, of course, that there is no rule which forbids the EVs to be simultaneously accessible.

    Not sure what is meant by 'rule', but if the EVs are not connected to the same earthing system, ADS according to BS 7671 is not guaranteed to be safe. See Regulation 411.3.1.1 ?

  • Hi Dean. Have you managed to confirm with the DNO if both Properties Share the Same Earthing System ? 

  • I used the word, "rule" loosely to include statutory requirements, HSE advice, British Standards, etc.

    As far as I can see, whilst BS 7671 applies to EVCPs (101.1.1(xxiii)), the vehicles themselves are out of scope, but I may be wrong.

  • ADS according to BS 7671 is not guaranteed to be safe

    Graham,

    Could you set out an example?

  • just think the Properties having different Earthing Systems is unlikely. I know it’s possible. 

    It is critical to confirm whether both properties share the same earthing system. If they do, the vehicles will be at the same earth potential, eliminating concerns about simultaneous contact.

  • Hi Amk

    Thank you for your feedback.

    I haven't heard back from the DNO as yet, fingers crosses i get confirmation next week,

    If not condudisc TT option is the way to conform to 411.3.1.1.

    I will keep you posted.

  • I used the word, "rule" loosely to include statutory requirements, HSE advice, British Standards, etc.

    OK, well if the 'etc' covers the IET Code of Practice for EV Charging Equipment Installation, which is cited by OZEV and Part S guidance, then yes, there is a 'rule' that covers this.

    As far as I can see, whilst BS 7671 applies to EVCPs (101.1.1(xxiii)), the vehicles themselves are out of scope, but I may be wrong.

    Yes ... but no ... Unfortunately, whilst BS 7671 covers the EV charging points, the fact remains that, when the vehicle is connected, the potentials at the exposed-conductive-parts of the EV charging point are transferred to the exposed-conductive-parts of the EV through the cpc in the vehicle connecting lead.

    If we accept as fact that simultaneously-accessible exposed-conductive-parts of EV charging points pose a risk if they are not connected to the same earthing system, the fact must also be true of any protective conductors and exposed-conductive-parts connected to the EV charging points that are also simultaneously-accessible.

    This logic is also validated through Regulation 722.411.4.1, which is fully intended to prevent transfer of potentials that appear on protective conductors in the installation due to PEN conductor faults in the supply from being transferred to the exposed-conductive-parts of the vehicle.

  • As far as I can see, whilst BS 7671 applies to EVCPs (101.1.1(xxiii)), the vehicles themselves are out of scope, but I may be wrong.

    Yes ... but no ... Unfortunately, whilst BS 7671 covers the EV charging points, the fact remains that, when the vehicle is connected, the potentials at the exposed-conductive-parts of the EV charging point are transferred to the exposed-conductive-parts of the EV through the cpc in the vehicle connecting lead.

    This is where the situation with EVs can get absurd. Naturally, the electrons take the path of least resistance (pun intended) and could not care less about man-made rules.

    So we think that these two properties share the same TN-C-S (?) earthing system, but what about two TT cottages in the countryside?

  • Just looking at this discussion from a practical point of view with  a view to ADS.

    The supply to the EV charge points will have RCD protection on their supply, probably also a built in RCD. They will also have open pen detection, which should mean that if there was a significant issue with earthing due to an open pen conductor they should shut down. The RCD protection means that there only needs to be 30mA flowing to earth for the RCD to trip, I am struggle to think of a scenario where there would be a situation where the earthing of the two properties is separated to such an extent that 30mA will not flow under fault conditions, especially with open pen detection in place.

    But Regulation 411.3.1.1 applies even where RCD protection is in place ... I'm not sure how this gets round the issue?

    The problem with 2 separate earthing systems is the fact that something else connected to either earthing system might have, say, 5 s disconnection time for a distribution circuit fault, and this might be seen at the exposed-conductive-parts of the other earthing system?

  • So we think that these two properties share the same TN-C-S (?) earthing system, but what about two TT cottages in the countryside?

    They might not, and other provisions are necessary ... but that's not in Section 722, it's in Part 4 of BS 7671, "general rules" ... Regulation 411.3.1.1, and would apply whether it's an EV supplied from the charging equipment, or other equipment 9fixed, or reasonable use from a socket-outlet) ?

    Not sure what point is being made here?