Survey to continuous compliance, in about six weeks.
No decant. No door replacement programme. No rewiring. Seven stages, and by the end of them your compliance position is something you can see rather than something you assume.
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01
Survey
Every fire door in scope is walked, photographed and recorded — location, type, rating, hardware schedule, current condition. For most organisations this is the first complete register they have ever had.
Output: a verified asset register in Sensorite. Yours to keep, whatever happens next.
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02
Install
Devices are retrofitted to the doors already hanging in your buildings. Minutes per door, no rewiring, no effect on the door’s certified performance. Communal areas first; flat entrance doors scheduled around access.
Resident impact: a fitter at the door for a few minutes. That is the whole of it.
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03
Commission
Each device is paired to its door record, calibrated against that door’s closing profile, and verified reporting before sign-off. A device that is fitted but not commissioned is not counted as monitored.
Output: commissioning certificate per door, held against the asset.
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04
Monitor
From here it runs. Closure state, hold-open duration, closing profile, impact and hardware movement, continuously. This is the point at which the twice-yearly snapshot stops being your only source of truth.
Nothing is asked of your team. That is the design.
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05
Notify
A deviation raises an alert to the person responsible for that block — not to a shared inbox. Unacknowledged inside your chosen window, it escalates. Who was told, and when, is part of the record.
Thresholds are yours to set. A 30-second hold-open is not an incident; fourteen minutes is.
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06
Act
Site teams and contractors work from the door itself. Scan the QR, see the record and the open action, do the work, attach the photo, close it. The dashboard updates as they walk away.
Where a physical inspection is genuinely needed, it is scheduled because the data says so.
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07
Evidence
Everything above is logged against the door, the block and the responsible person, continuously, whether or not anyone asks. When the regulator, the insurer or the board does ask, it is an export.
This is the stage that turns monitoring into compliance.
What happens after week six
Named account contact
Someone who knows your estate, not a ticket queue.
Device health monitoring
We watch the sensors so you don’t have to. A silent device is an alert in itself.
Quarterly review
What the data showed, what it cost you, and where the pattern is.
Regulatory updates
When the requirements move, the reporting moves with them.