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The EMSD Code of Practice for Fresh Water Cooling Towers, in plain English

What Hong Kong's Code of Practice for Fresh Water Cooling Towers actually asks of a building owner — the numbers, the thresholds and the paperwork.

LEGIONELLABY GOTECH CHEMICALPUBLISHED 15 JUL 2026UPDATED 15 JUL 202612 MIN READ
THE SHORT ANSWER

Hong Kong's Code of Practice for Fresh Water Cooling Towers (2023 edition) comes in three parts: design and installation, operation and maintenance, and water treatment methods. For a building owner already running towers, Part 2 is the one that bites. It sets indicative water quality criteria — total Legionella below 10 cfu/mL and heterotrophic colony count below 100,000 cfu/mL — requires cleaning, desludging and disinfection at least every 6 months, defines exactly what to do at each Legionella count, and requires operation and maintenance records to be kept for at least 2 years and produced on request. The 2023 edition was published on 21 November 2023 and fully implemented on 21 May 2024.

What the Code is, and what it is not

The Code of Practice sits underneath the Fresh Water Cooling Towers Scheme — the EMSD scheme that lets buildings in designated areas use fresh water for evaporative cooling instead of being restricted to air-cooled plant. Joining the scheme is what makes your towers lawful. The Code is the rulebook you agree to operate by.

It helps to be precise about its status. The Code itself sets out an order of priority: legislation and subsidiary legislation first, then relevant Codes of Practice and technical standards, then this Code. So it is not, by itself, a statute. But it is the benchmark against which your towers are inspected, and departing from it is something you would have to justify — to EMSD, and to anyone asking questions after an incident.

The single most useful thing to understand: the Code is written for the O&M contractor and the water treatment service provider to carry out. It is not written to relieve the owner. Engaging a contractor delegates the work, not the responsibility.

The three parts

PartCoversWho needs it
Part 1Design, installation and commissioningNew towers, replacements, major alterations
Part 2Operation and maintenanceEvery building already running towers
Part 3Water treatment methodsYou and your treatment provider, together

If you own or manage an existing building, Part 2 is where your obligations live day to day. Part 3 is where the chemistry you are paying for is described. Part 1 matters when something is being built or swapped out.

The water quality numbers

Part 2 gives a table of indicative cooling water quality criteria. The Code is explicit that this table is for reference — it is guidance on what healthy water looks like, not a pass/fail certificate. That said, these are the numbers an inspector knows, and the numbers your treatment programme should be holding.

ParameterCriterion
Total Legionella countLess than 10 cfu/mL
Heterotrophic colony count (HCC)Less than 100,000 cfu/mL
pH7 – 10
ConductivityLess than 1,500 µS/cm
Total dissolved solidsLess than 1,000 ppm
Suspended solidsLess than 150 ppm
Calcium hardnessLess than 500 ppm CaCO₃
Total alkalinity80 – 500 ppm CaCO₃
ChlorideLess than 200 mg/L
SulphateLess than 200 mg/L
Total ironLess than 1.0 mg/L
Free residual chlorine0.5 – 1.0 mg/L*
Biocide / inhibitor levelPer manufacturer's specification

* The Code notes operators may decide a suitable concentration with due consideration of existing pipe conditions. Source: Table 2.1, Code of Practice Part 2, 2023 edition.

Two of these deserve comment. pH 7–10 is a very wide band, and the top of it is a place where chlorine barely functions — above pH 8 most of your free chlorine has dissociated into the weak hypochlorite ion. A tower can sit inside the Code's pH range and still have effectively no disinfection. We explain why in effects of pH on various biocides. And total iron below 1.0 mg/L is not really a health number — it is a corrosion tell-tale. Iron in the water is pipe that used to be in the wall (see metal corrosion in water systems).

The Legionella action ladder

This is the part of the Code that people most often get wrong, usually by assuming there is one threshold. There are several, and each carries a different required response. Part 2 sets them out as control strategies:

Total Legionella countIndicationWhat the Code requires
Not detected
(<10 cfu/mL)
System under controlMaintain quarterly monitoring and maintain the water treatment programme
≥10 and <1,000 cfu/mLReview programmeInvestigate, review the treatment programme, take remedial action including immediate on-line disinfection, then resample within 3–7 days
≥1,000 cfu/mLImplement corrective actionInvestigate, review the programme, and carry out immediate emergency decontamination, then resample within 3 days

After disinfection you do not get to stop at one clean result. The Code requires two consecutive samples with no Legionella detected before you may return to the routine quarterly regime. If the resample still shows ≥100 and <1,000 cfu/mL, you clean and disinfect again and repeat the cycle. If it comes back at ≥1,000 cfu/mL, you are back to emergency decontamination.

Read that ladder again as a business risk rather than a chemistry one. A single result at 1,000 cfu/mL does not just trigger a decontamination — it starts a resample loop you cannot exit until two clean samples in a row. That is weeks of disruption and cost that a functioning treatment programme simply avoids.

The bacteria count nobody talks about

Legionella gets the attention. But the Code also sets an action ladder on heterotrophic colony count — a general measure of how much bacterial life is in the water:

HCC resultWhat the Code requires
<100,000 cfu/mLRepeat routine monitoring
≥100,000 and <5,000,000 cfu/mLImmediately carry out cleaning and disinfection
≥5,000,000 cfu/mLInvestigate — this is also an emergency decontamination trigger

HCC is worth watching precisely because it moves before Legionella does. A rising heterotrophic count means the water is becoming hospitable — nutrients, biofilm, somewhere for amoebae to live. Legionella is a passenger on that ecosystem. By the time your Legionella count is climbing, the HCC has usually been telling you for a while.

What triggers emergency decontamination

The Code names three triggers. Any one of them is enough:

  • Total Legionella count of 1,000 cfu/mL or more; or
  • Heterotrophic colony count of 5,000,000 cfu/mL or more; or
  • On-line disinfection, and cleaning and disinfection, have not been effective at controlling Legionella and HCC.

That third trigger is the interesting one, and it is the one that catches badly-run systems. You do not need a catastrophic count to end up in emergency decontamination. You only need a programme that keeps failing to fix an ordinary one.

Cleaning, standby towers and shutdowns

Three operational rules from Part 2 that are routinely missed:

  • Cleaning frequency. Cooling tower systems should be regularly cleaned, desludged and disinfected at least every 6 months. That is a floor, not a target — a dirty tower or a high-risk site needs more.
  • Standby units. A tower kept as standby should still be run at least one hour per week, and systems with standby units should rotate them so no unit sits idle for long. Treatment and monitoring continue on standby units that hold water. A stagnant standby tower with warm water in the basin is close to a textbook Legionella incubator.
  • Shutdowns over a week. If a system will be out of use for more than a week, the Code gives two options: keep it full of treated water, checked and circulated once a week; or fully drain it, dry it with a mechanical fan, and cover and shut off the inlet and outlet pipes. Either way the tower must be isolated from the main system, and full recommissioning — including cleaning and disinfection — is required before it goes back into service.

We cover the practical side of this in how often a cooling tower should be cleaned and restarting a cooling tower after shutdown or typhoon.

The enforcement layer: what EMSD actually does

Everything above is the Code — the rulebook you operate by. It is worth separating that from the statutory layer, because they are two different things and people merge them constantly.

EMSD has regulated the water quality of fresh water cooling towers under the Public Health and Municipal Services Ordinance, Cap. 132 (PHMSO) since 2011. With powers delegated from the Director of Food and Environmental Hygiene with effect from 24 January 2011, EMSD can enter premises and take water samples. It has been carrying out inspections and sampling since April 2011. These are random surveillance inspections — you do not get notice.

What happens then depends on the number:

EMSD's sample resultWhat EMSD issuesConsequence
10 – 1,000 cfu/mLAn advisory letterYou are asked to restore water quality through on-line disinfection per the Code. Not an offence — but it is now on record that you were told.
≥ 1,000 cfu/mLA nuisance notice under the PHMSOYou are required to carry out emergency decontamination with re-testing, for abatement within a prescribed period. Failing to comply with the notice is an offence.

And there is a consequence that has nothing to do with fines. EMSD publishes the building locations of fresh water cooling towers found at or above 1,000 cfu/mL with nuisance notices issued, in a list covering the past three months. It is a public PDF on the EMSD website, updated as results come in. If you manage a hotel, a mall or a Grade A office, that is the part of this article to reread. The chemistry is recoverable. Being on the list is a matter of public record, and your tenants, your guests and your competitors can all read it.

How common is this, really?

It is reasonable to ask whether this is a theoretical risk. EMSD publishes its own sampling statistics, so we do not have to guess — we track every published round in EMSD cooling tower sampling results.

In the first half of 2026 (January to June), EMSD's routine surveillance took 348 water samples from fresh water cooling towers across 219 buildings. Of those samples, 1 was at or above 1,000 cfu/mL and drew a nuisance notice. But 35 came back between 10 and 1,000 cfu/mL — the advisory-letter band.

That is the number worth sitting with. Roughly one sample in ten from Hong Kong's routine surveillance showed detectable Legionella above the Code's threshold. Not a catastrophe; not rare either. EMSD's own characterisation of that band is blunt — it says such cases “more often reflect intermittent inadequate vigilance” in routine maintenance and water treatment.

Prosecution is not the realistic risk for most buildings. Being the one in ten is. And the difference between the buildings in that group and the ones outside it is not luck — it is whether someone is actually running the programme between inspections.

Figures are EMSD's published routine-surveillance statistics for January to June 2026, retrieved 15 July 2026. EMSD updates them periodically; check the source for current numbers.

The paperwork requirement is a real requirement

Part 2 requires that operation and maintenance manuals and records are kept by authorised personnel, are readily available for inspection on request, and are kept for at least 2 years. Defects identified in any report must be notified to the owner, occupier, manager or their nominated representative immediately.

Inspection also looks for updated installation documents and completed inspection and maintenance checklists, records and logbook for the past 1 year.

This is why we send a dated written report after every visit, and why you should expect that from any provider. Treatment that works but is not documented gives you no defence. Two years is not an archiving preference — it is the window in which someone can ask you to prove what you did. The printable compliance checklist puts the recurring duties and a monthly record grid on one sheet for the plant room.

A short honest summary

If you strip the Code down to what an owner must actually ensure happens:

  1. A real treatment programme runs continuously — not chemicals dropped in occasionally.
  2. Legionella and HCC are tested at least quarterly while the system is under control.
  3. The system is cleaned, desludged and disinfected at least every 6 months.
  4. When a count comes back high, the defined ladder is followed — including the resample loop — not improvised.
  5. Standby towers are run weekly; long shutdowns are handled by one of the two prescribed methods.
  6. Every bit of it is written down, dated, and kept for two years.

None of that is exotic. It is ordinary competent maintenance, done on a schedule, with records. The reason it goes wrong is almost never that someone could not understand the chemistry. It is that nobody owned the calendar.

Gotech has treated Hong Kong water systems since 1982. This article is general guidance, not a compliance certification for your site.

Frequently asked questions

Is the EMSD Code of Practice legally binding?

The Code sets out its own order of priority: legislation and subsidiary legislation first, then relevant Codes of Practice and technical standards, then the Code itself. It is the operating benchmark for the Fresh Water Cooling Towers Scheme and the basis on which towers are inspected, so departing from it is something an owner would need to justify.

How often must a cooling tower be cleaned in Hong Kong?

The Code of Practice Part 2 requires cooling tower systems to be regularly cleaned, desludged and disinfected at least every 6 months. That is a minimum. Towers with heavy fouling, high dirt loading or elevated risk need cleaning more often.

What Legionella level requires action in Hong Kong?

Below 10 cfu/mL is treated as not detected and you maintain quarterly monitoring. At 10 cfu/mL or above, but under 1,000, you must investigate, review the treatment programme and carry out immediate on-line disinfection, then resample within 3 to 7 days. At 1,000 cfu/mL or above, immediate emergency decontamination is required, with a resample within 3 days.

How long must cooling tower records be kept?

At least 2 years. Operation and maintenance manuals and records must be kept by authorised personnel and be readily available for inspection on request. Inspections also check for completed checklists, records and logbook covering the past 1 year.

What happens if EMSD finds Legionella in my cooling tower?

It depends on the count. Between 10 and 1,000 cfu/mL, EMSD issues an advisory letter asking the owner to restore water quality through on-line disinfection per the Code of Practice. At 1,000 cfu/mL or above, EMSD issues a nuisance notice under the Public Health and Municipal Services Ordinance requiring emergency decontamination with re-testing within a prescribed period, and failing to comply with that notice is an offence. EMSD also publishes a public list of buildings issued with nuisance notices.

Can EMSD inspect my cooling tower without warning?

Yes. With powers delegated from the Director of Food and Environmental Hygiene under the Public Health and Municipal Services Ordinance with effect from 24 January 2011, EMSD can enter premises and take water samples from fresh water cooling towers. It has carried out random surveillance inspections and sampling since April 2011.

Does hiring a water treatment contractor remove my liability as the owner?

No. The Code assigns the work to the O&M contractor and water treatment service provider, but responsibility for the installation stays with the owner. What protects an owner is treatment that works plus records that prove it.

References

  1. EMSD, Code of Practice for Fresh Water Cooling Towers, Part 2: Operation and Maintenance (2023 edition). Electrical & Mechanical Services Department, HKSAR. Water quality criteria at Table 2.1; Legionella control strategies at Table 2.3; cleaning frequency at s.3.4.1; emergency decontamination triggers at s.3.6.1; record keeping at s.4.2.3.
  2. EMSD, Code of Practice for Fresh Water Cooling Towers, Part 1: Design, Installation and Commissioning (2023 edition).
  3. EMSD, Code of Practice for Fresh Water Cooling Towers, Part 3: Water Treatment Methods (2023 edition).
  4. EMSD, Fresh Water Cooling Towers Scheme — scheme scope, designated areas and application forms.
  5. EMSD, Regulatory Control of Water Quality inside Cooling Towers — regulation under the Public Health and Municipal Services Ordinance, Cap. 132; delegated powers effective 24 January 2011; nuisance notice procedure.
  6. EMSD, Water Sampling of Fresh Water Cooling Towers — Statistics — regulatory actions by result band, and the routine surveillance figures quoted above (January–June 2026).
  7. EMSD, Building locations of fresh water cooling towers detected with total legionella count ≥ 1,000 cfu/mL with nuisance notices issued (PDF, updated periodically).
  8. US CDC, Controlling Legionella in Cooling Towers.

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