Is Your Building Ready for

Maryland BEPS

New state regulations require commercial and multifamily buildings to benchmark energy use, report annually, and meet emissions targets. We don't just get you compliant — we build a strategy that reduces costs and increases asset value.

Building size threshold
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Covered buildings statewide
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Emissions target
Net Zero By 0

Full Compliance, Guaranteed

We ensure your building meets all benchmarking, verification, and reporting requirements — on time, every time.

Hassle-Free Process

We handle everything — Portfolio Manager setup, utility data requests, tenant coordination, third-party verification, and submission.

Every MD Jurisdiction Covered

Statewide, Montgomery County, and Prince George's County — we know every program and navigate the overlaps for you.

Overview

What Are BEPS?

In 2022, the Maryland legislature passed the “Climate Solutions Now” Act aimed at significantly reducing greenhouse gas emissions and addressing climate change. Provisions of the law task the state with expanding energy efficiency and electrification requirements for buildings — including net-zero mandates for certain new constructions — and strengthening environmental reporting and accountability measures to track progress toward climate goals.

To support those objectives, the Maryland Department of the Environment (MDE) developed Building Energy Performance Standards, or BEPS. These regulations apply to facilities that are 35,000 square feet and larger (excluding parking garage area). Historic buildings, schools, factories, agricultural buildings, and federal buildings may be exempted.

For complete information on the law, including how to comply, see the MDE BEPS page →

Free Tools

Take the Next Step

Use these free resources to understand your obligations and plan your compliance strategy.

Check Your Property

Find out if your building is covered and which rules apply

Quick Reference Guide

Download our free BEPS compliance checklist

Calculate Potential Fines

Estimate your non-compliance costs

Industry-Leading Experience

Buildings Benchmarked Nationwide
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Overview

MD Jurisdictions Covered

Square Feet Benchmarked
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Your Compliance Timeline

Key Milestones on the Road to Net Zero

Maryland BEPS is a multi-year program. Here's the complete timeline building owners need to plan around.

2025
Initial Benchmarking
Submit first report to MDE via ENERGY STAR Portfolio Manager. June 1 deadline (Sept 1 for first-time reporters).
2026
Third-Party Verification
CY2025 data must be verified by a credentialed third party. $100 annual reporting fee begins.
2030
First Emissions Targets
Buildings must meet interim net direct GHG standards. ACPs ($230/ton) begin for buildings over limits.
2035
Stricter Standards
Emissions limits tighten. Buildings without electrification or upgrades face significantly higher ACPs.
2040
Net Zero Emissions
All covered buildings must achieve zero net direct GHG emissions — full electrification or ACPs for remaining emissions.

Frequently Asked Questions

What Building Owners Ask Us Most

Generally, no. As of October 1, 2025 (HB49), buildings in Montgomery County that comply with the County’s BEPS program are exempt from reporting separately to the State (MDE). Your MoCo compliance counts as State compliance — no double reporting needed. Buildings outside Montgomery County report only to MDE.

Starting in 2026, self-reported benchmarking data must be reviewed and signed off by a credentialed third party to ensure accuracy. Both State and Montgomery County programs require this for calendar year 2025 data. We recommend starting the verification process by March or April to allow time to correct any utility data errors before the June 1 submission deadline.

It depends on your location. If in Montgomery County: you must report to the County — their threshold is stricter at 25,000 sq ft. If elsewhere in Maryland: the State threshold is 35,000 sq ft, so a 30,000 sq ft building outside Montgomery County is currently exempt from statewide benchmarking requirements.

The State charges an alternative compliance fee starting at $230 per metric ton of excess CO₂e (in 2020 dollars, adjusted for inflation), increasing $4 per metric ton each year. Montgomery County can impose fines of up to $500 per day for non-compliance — and they are actively enforcing. A $100 annual reporting fee also begins statewide in 2026.

Yes, but criteria differ by jurisdiction and exemptions are not automatic — you must apply. State exemptions cover historic buildings, manufacturing, agricultural, federal buildings, and demolished buildings. Montgomery County also offers waivers for low occupancy (<50%), financial distress, new construction, and pending demolition. Contact us if you believe you qualify — we can assess eligibility and file the paperwork on your behalf.

Prince George’s County falls under the full Statewide BEPS program — the same as all Maryland counties outside Montgomery County. Buildings ≥35,000 sq ft must comply with State BEPS (benchmarking, verification, emissions targets). On top of that, PG County has its own benchmarking requirement for buildings over 50,000 sq ft, but does not yet have separate county-level performance standards.

Benchmarking is the first step — measuring and reporting your building’s energy use annually via ENERGY STAR Portfolio Manager. BEPS compliance goes further: starting in 2030, buildings must meet actual greenhouse gas emissions reduction targets, with interim standards through 2039 and net-zero by 2040. Think of benchmarking as the measurement, and BEPS as the standard your building must meet. Starting early on energy improvements gives you a head start.

No. Grid electricity emissions are not counted toward the direct emissions performance metric in BEPS. The regulation only covers emissions from onsite fuel combustion — such as natural gas and fuel oil. The only rare exception is buildings connected to a district energy system. This means reductions in electricity usage alone do not help meet emissions targets; the focus is on eliminating or reducing onsite fossil fuel use.

The ACP is a compliance pathway starting in 2030. Instead of making capital improvements, building owners can pay a fee for every metric ton of CO₂e in excess of that year’s emissions standard for their property type. The fee starts at $230 per metric ton (in 2020 dollars, adjusted for inflation) and increases by $4 per metric ton each subsequent year. The pricing structure is detailed in COMAR 26.28.04.

All owners share responsibility. MDE will not delegate responsibilities to specific owners. It is the responsibility of all owners to determine the most effective way to meet BEPS requirements. Non-compliance is attributed to all owners of the covered building, regardless of who was supposed to handle the reporting. We recommend formalizing who handles compliance in your ownership or operating agreements.

Submit a data request to your utility provider(s). If your building has fewer than 5 tenants, you’ll need written authorization from each tenant — either through a data release consent form or a lease provision — before the utility company will provide whole-building consumption data. For guidance, see section A.3 of MDE’s Benchmarking Guide. If you have trouble accessing data, contact MDE at 410-537-3183 or [email protected].

Several energy uses can be excluded. The five most common are: food service facilities, required combustion equipment, electric vehicle chargers, parking lots and garages, and outdoor heated pools. How you handle the exclusion depends on metering — separately metered uses are simply omitted, submetered uses require a negative meter in Portfolio Manager, and unmetered uses must be estimated using standard formulas. See page 20 of the MDE Benchmarking Guide for the full list and detailed instructions.
Possibly, yes. Any building meeting the definition of a “covered building” must comply with BEPS regardless of whether it appears on MDE’s list. MDE is still working to identify all covered buildings. If your building is 35,000+ sq ft (commercial or multifamily), you are likely covered. This also applies to condominium complexes governed by a single board and buildings that share meters or heating/cooling systems with a combined area of 35,000+ sq ft. If your building isn’t listed, submit a UBID request through the BEPS Portal.

Yes. Failure to submit puts you in violation of the BEPS regulation. Violations are reviewed and enforced on a case-by-case basis by the MDE Air and Radiation Administration Compliance Program. Enforcement may range from warnings to fees. If you have concerns about meeting a deadline, contact MDE proactively at [email protected] — early communication can make a significant difference.

Yes. Building owners can apply for exemption from both benchmarking and performance standards for: financial distress, unoccupied buildings, or buildings demolished during the reporting year. “Financial distress” specifically means properties subject to a tax lien sale or public auction, controlled by a court-appointed receiver, or acquired by deed in lieu of foreclosure in the past year. Exemption requests must be submitted via the BEPS Portal before the June 1 deadline, and hardship exemptions are limited to the year for which they are requested.

Yes. The Clean Buildings Hub, an initiative of the Maryland Energy Administration (MEA), connects building owners with available incentives, resources, and technical assistance. The Hub is compiling state, federal, local, and utility incentives. Federal programs include the Energy Efficient Commercial Building Deduction (up to $5/sq ft for projects that reduce energy use intensity) through the Inflation Reduction Act. Sign up for the Hub newsletter at [email protected] to be alerted of new funding opportunities.

Know Your Jurisdiction

Three Programs. One State. Know Which Applies to You.

Your compliance obligations depend on where your building is located. Here's how the three Maryland programs compare.

Statewide

Maryland BEPS (MDE)

Threshold

35,000+ sq ft

Deadline

June 1 annually

Verification

2026 (CY2025 data)

Net Zero Target

2040

Penalties

$230+/ton CO₂e

Portal

Your compliance obligations depend on where your building is located. Here's how the three Maryland programs compare.

State Performance Targets

The Path to Net Zero

State targets are Fixed EUI Standards that increase in stringency every 5 years until resolving at a final performance standard (Net Zero) in 2040.

Interim Target: 2030
Interim Target: 2035
Final Standard: 2040

Montgomery County

County BEPS Ordinance

Threshold

25,000+ sq ft

Deadline

June 1 annually

Verification

Year 1, then every 3 yrs

Net Zero Target

Phased by group

Penalties

Up to $500/day

Portal

Stricter threshold (25k vs 35k sf) and actively enforcing fines. MoCo compliance counts as State compliance — no double reporting needed.

MoCo Performance Targets

Group 1–4 Deadlines

Targets are based on your Historical Baseline. Failure to meet targets requires a Building Performance Improvement Plan (BPIP).

  • Group 1: Commercial >250k sf
  • Group 2: Commercial 50k–250k sf
  • Group 3: Commercial 25k–50k sf
  • Group 4: Multifamily >250k sf & Others
Group 1 & 2: Active Cycle
Group 3: Baseline Est. 2024
Group 4: Baseline Est. 2025

Prince George's County

State BEPS + County Benchmarking

State BEPS Threshold

35,000+ sq ft

County Benchmarking

June 1 annually

Verification

2026 (CY2025 data)

Net Zero Target

2040

Penalties

$230+/ton CO₂e

Portal

Your compliance obligations depend on where your building is located. Here's how the three Maryland programs compare.





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