Comment
1350.04.01.01.01 – General
The inclusion of the clause “including but not limited to resistance to salt scaling on concrete surfaces exposed to de-icers and/or anti-icers” introduces significant implications and concerns for concrete producers, as outlined below:
- Salt scaling concerns have remained unresolved despite extensive discussion at ORBA Structures Committee meetings over the past three years.
- Concrete producers are not licensed by Professional Engineers Ontario (PEO) to provide consulting engineering services and therefore cannot assess or design for unknown winter maintenance practices used by the Owner.
- The industry does not have knowledge of the specific de-icing or anti-icing materials, their chemical composition, application methods, or application rates, all of which significantly influence scaling performance.
- It has been observed that certain de-icing chemicals used by Owners can chemically attack cement paste, further complicating the ability to ensure scaling resistance.
- The specification does not define any acceptance criteria, test methods, or prequalification procedures for evaluating “resistance to salt scaling.”
- Without defined testing or performance criteria, it is not possible for producers to provide reliable guidance or ensure long-term scaling resistance of concrete in service.
- The requirement effectively obligates concrete to perform against any future de-icing product or practice selected by the Owner, creating an open-ended and unquantifiable risk.
This places responsibility on concrete suppliers for factors outside their control and beyond their scope of work.
Submitted March 24, 2026 4:14 PM
Comment on
NSP DB 1350 – Material Specification for Concrete – Materials and Production
TCP number
000-0288
Comment ID
546
Commenting on behalf of
Comment status