Yes – if you own, manage, or are responsible for a non-domestic building that was built or refurbished before the year 2000, you are legally required to have an asbestos management plan under the Control of Asbestos Regulations 2012 (CAR 2012). This is not optional, and it applies regardless of whether asbestos has been confirmed in the building. The law requires you to presume asbestos is present in any pre-2000 non-domestic property unless a UKAS-accredited laboratory has confirmed otherwise.
An asbestos management plan is a written document that records the location and condition of all asbestos-containing materials (ACMs) in your building, assesses the risk they pose, and sets out how they will be managed, monitored, or removed to protect the health of anyone who uses or works in the building. It must be kept up to date and made available to anyone who might disturb ACMs – including maintenance staff, contractors, and emergency services.
HSG Asbestos Surveys helps property owners, facilities managers, landlords, and duty holders across Yorkshire, Lancashire, Greater Manchester, and the wider North of England produce and maintain legally compliant asbestos management plans. Our process starts with a professional management survey, conducted by BOHS P402-qualified surveyors, that provides all the information needed to build your plan.
AAn asbestos management plan is a formal, written document required by Regulation 4 of the Control of Asbestos Regulations 2012. It is the core tool through which a dutyholder demonstrates that they are actively managing the risk from asbestos in their building, rather than ignoring it.
At its simplest, the plan does three things: it records where asbestos is (or is presumed to be), it assesses the risk each material poses under current conditions, and it sets out what actions will be taken – and when – to ensure that asbestos does not become a health hazard. The plan is a living document: it must be reviewed and updated whenever the condition of ACMs changes, when new materials are found, or when any refurbishment or demolition work takes place.
An asbestos management plan is not the same as an asbestos survey. The survey is the inspection that identifies and locates ACMs. The management plan is the document produced using the survey findings. In practice, a professional asbestos management survey provides everything needed to build the plan – which is why commissioning a survey from a qualified provider is the essential first step.
The Duty to Manage under Regulation 4 of CAR 2012 applies to any person who has, by virtue of a contract or tenancy, an obligation relating to the maintenance or repair of non-domestic premises, or who has control of the premises. In plain terms, this means:
The duty applies to the person or organisation with day-to-day control over maintenance and repair of the building – not necessarily the freeholder. In many leasehold situations, this means the occupying tenant has the duty for the areas they control, while the freeholder or managing agent holds it for communal parts.
Homeowners in purely domestic properties are not subject to the Duty to Manage. However, the duty does apply to landlords who rent out residential properties, for the communal areas of those properties. And any domestic property becomes subject to asbestos regulations the moment it is used as a construction site – for example, during a loft conversion or extension.
The HSE does not prescribe a single fixed template for an asbestos management plan, but Regulation 4 of CAR 2012 and the associated Approved Code of Practice (L143) set out clearly what the plan must include to be considered compliant. The table below summarises the required and recommended elements:
| Element | Description | Status |
| Asbestos Register | A complete, location-by-location record of every ACM and presumed ACM in the building, including material type, fibre type, condition, extent, and risk score. | Required |
| Site Drawings | Scaled floor plans with all ACM locations clearly marked – essential for communicating hazard locations to contractors and maintenance staff. | Required |
| Risk Assessments | A priority score for each ACM based on the HSE material assessment algorithm, indicating urgency of management action. | Required |
| Management Recommendations | Specific action for each ACM: manage in situ, monitor, repair, encapsulate, or arrange removal. With timescales. | Required |
| Re-inspection Schedule | A timetable for the annual condition monitoring visits required to keep the register up to date. | Required |
| Contractor Communication Procedure | A documented process for ensuring anyone carrying out work on the premises is informed of relevant ACM locations before starting. | Required |
| Emergency Procedures | Steps to follow if an ACM is accidentally damaged or disturbed, including who to contact and how to protect building users. | Best Practice |
| Training Records | Evidence that relevant staff (e.g. premises managers, facilities teams) have received appropriate asbestos awareness training. | Best Practice |
The plan must be written down – a verbal arrangement does not satisfy the legal requirement. It must also be kept somewhere accessible so that it can be produced to a contractor, HSE inspector, or emergency service at short notice. Many duty holders keep both a physical copy on site and a digital copy stored securely online.
Having an asbestos management plan is only one part of the legal duty. The full set of Regulation 4 obligations covers the following activities – all of which must be carried out and evidenced:
| Duty | What It Means in Practice | Frequency |
| Identify ACMs | Commission a management survey to locate all asbestos-containing or suspected materials. | Ongoing |
| Assess the risk | Evaluate the condition of ACMs and the likelihood of disturbance during normal use. | After each survey or re-inspection |
| Record findings | Maintain a written asbestos register accessible to all relevant persons. | Continuously updated |
| Prepare a management plan | Produce a written plan detailing how each ACM will be managed or removed. | Must exist at all times |
| Implement the plan | Carry out the actions in the plan – repairs, monitoring, encapsulation, or removal. | Per plan timescales |
| Inform others | Ensure contractors and maintenance staff can access the register before starting work. | Before any works |
| Review and update | Arrange annual re-inspections and update the register whenever the building changes. | At least annually |
The HSE can inspect your premises and request to see your asbestos register and management plan at any time. If you cannot produce a plan, or if the plan is significantly out of date, you may be issued with an Improvement Notice requiring you to put one in place within a specified timeframe. Continued non-compliance can result in prosecution.
The asbestos register and the asbestos management plan are two separate but closely linked documents. The register is the record of what is there – a location-by-location list of every ACM and presumed ACM in the building. The management plan is the action plan – what you are going to do about each material, and when.
In practice, the register is usually produced as part of the management survey report delivered by your asbestos surveying company. It is then incorporated into the management plan alongside the risk assessments and action recommendations. Together, they form the complete compliance document required by Regulation 4.
The register must include the following information for each ACM identified:
An asbestos management plan does not expire, but it must be kept up to date. The Control of Asbestos Regulations 2012 and the HSE’s Approved Code of Practice (L143) require that:
TIn practice, most duty holders arrange an annual asbestos re-inspection visit to coincide with their review cycle. This typically involves a qualified surveyor revisiting the building, checking the physical condition of known ACMs, and updating the register accordingly. The re-inspection is far less involved than the original management survey – it focuses only on previously identified materials and checks for any deterioration or change.
HSG Asbestos Surveys provides asbestos re-inspection services across the North of England. If your existing plan is overdue for review, or if you have never had a formal re-inspection, contact us for a free quote.
Operating a non-domestic premises built before 2000 without a current asbestos management plan is a criminal offence under the Control of Asbestos Regulations 2012. The Health and Safety Executive (HSE) actively enforce Regulation 4 and carries out unannounced inspections. The potential consequences of non-compliance include:
Beyond the legal consequences, the human cost of non-compliance can be severe. Asbestos-related diseases – including mesothelioma, asbestosis, and lung cancer – typically take 20 to 50 years to develop after exposure. A failure to manage asbestos today may not cause illness for decades, but when it does, the consequences for the affected individuals and those responsible are irreversible.
Here is how we help you get compliant:
All surveys are carried out in full accordance with HSE guidance note HSG264: Asbestos – The Survey Guide. We are CHAS-accredited and Constructionline silver members, and our surveyors hold both BOHS P402 and BOHS P405 qualifications with a minimum of ten years’ experience each
| Question | Answer |
| Do I need an asbestos management plan? | Yes, if you own, manage, or control a non-domestic building built or refurbished before the year 2000. Under Regulation 4 of the Control of Asbestos Regulations 2012, you are legally required to identify, assess, and manage the risk from asbestos in your building, and to record this in a written management plan. |
| Do I need an asbestos management plan if no asbestos is found? | If a UKAS-accredited laboratory has confirmed that no asbestos-containing materials are present in the building, you are not required to maintain an ongoing management plan. However, the survey report confirming this finding must be retained as evidence. If any part of the building was not surveyed, the duty to manage still applies to those areas. |
| What is the difference between an asbestos register and an asbestos management plan? | The asbestos register is the record of where asbestos is located in a building and its current condition. The asbestos management plan is the action plan that sets out what will be done about each material, by whom, and when. The register is usually produced as part of the management survey report, and the plan is built using that information. |
| Who is responsible for the asbestos management plan? | The dutyholder – the person or organisation with day-to-day control over maintenance and repair of the premises. This is often the building owner, facilities manager, or managing agent. In leasehold buildings, responsibility may be shared between the freeholder (for communal areas) and individual occupiers (for the areas they control). |
| How often does an asbestos management plan need to be reviewed? | The plan must be reviewed and the asbestos register updated at least annually, following a re-inspection of all known ACMs. It must also be updated whenever new materials are found, whenever the condition of existing materials changes, or whenever any refurbishment, demolition, or removal work takes place. |
| Can I write my own asbestos management plan? | Technically yes, but only if you have sufficient competence to do so. The plan must be based on an accurate, professionally conducted management survey by a BOHS P402-qualified surveyor. You cannot produce a legally compliant plan without first having the building professionally surveyed and all suspect materials laboratory-tested. |
| Does an asbestos management plan need to be kept on site? | Yes. The plan and register must be kept in a location where they can be accessed promptly – typically on site or readily retrievable digitally. They must be made available to contractors, maintenance staff, and the HSE on request. Keeping them only in a head office filing cabinet is not considered sufficient. |
| Do residential landlords need an asbestos management plan? | The Duty to Manage applies to the communal areas of residential buildings – stairwells, corridors, plant rooms, roof spaces, and external common areas. Residential landlords and managing agents are responsible for these areas. Individual private flats are not covered by the Duty to Manage, but any works that disturb building fabric in a pre-2000 flat still trigger asbestos obligations under CAR 2012 Regulation 7. |
| What happens during an HSE asbestos inspection? | An HSE inspector may attend your premises announced or unannounced and request to see your asbestos register and management plan. They will check whether the plan exists, whether it is current, whether it has been communicated to relevant persons, and whether the actions it specifies are being carried out. Non-compliance can result in Improvement Notices, Prohibition Notices, or prosecution. |
| How long does it take to get an asbestos management plan in place? | Once a management survey is commissioned, the process typically takes around one to two weeks from survey booking to receiving a completed report with management plan template. HSG Asbestos Surveys aims to deliver reports within five working days of the site survey. An expedited service is available where urgency requires it. |