HSE Professional Guide · Safety & Health Coordination · Issue 4
Handover of the Construction Site Before Works Commence
Lizák Zoltán · Lizákné Kovács Nóra
16 June 2026 · Statutory guide · Reading time: approx. 12 min
The formal handover of the construction site is not merely a physical transfer of a location – it is the structured, documented transfer of responsibility, risk and occupational safety obligations. From the moment of handover, the main contractor bears full occupational safety responsibility for the site.
What this guide covers
- The statutory basis and significance of the site handover procedure
- Who must be present – and whose absence renders the procedure invalid
- The three stages of the procedure: preparation, on-site walkthrough, documentation
- Required documents with responsibility and HSE relevance indicated
- The rules and consequences of conditional site acceptance
- Mandatory content of the site handover record
Who should read this
- Clients and employers
- Main contractors and general contractors
- Safety and Health Coordinators and responsible technical supervisors
- Project and development managers
Introduction
The handover of the construction site is the critical process by which the client formally transfers the construction area to the main contractor. In practice, this process is frequently dealt with informally – a handshake and a few words. Yet from that moment, the main contractor bears full occupational safety responsibility for the site. An inadequately documented or non-compliant handover can have serious legal consequences for both parties.
This guide sets out what the legislation requires of the handover procedure, who must be present, what documents are needed, and how to handle deficiencies.
Statutory Basis
The handover of the construction site is governed jointly by Act C of 2023 on Hungarian Architecture (Méptv.) and the associated implementing government decrees that came into force on 1 October 2024 – in particular the amended Government Decree 191/2009. (IX.15.) on construction industry execution activities (Construction Code) – together with Decree 4/2002. (II.20.) SzCsM-EüM.
This means the handover procedure is not optional, cannot be deferred, and cannot be replaced by an informal agreement. The procedure must always be carried out in the presence and with the active participation of the Safety and Health Coordinator.
Who Must Be Present?
The site handover must not be an informal process. The participants must be clearly defined, and every person present must confirm attendance by signature on the handover document.
| Participant / role | Reason for attendance and responsibilities |
|---|---|
| Client / Employer's representative Mandatory | The handing-over party – confirms the site is in the condition agreed in the contract. Responsible for ensuring that all known hazards and encumbrances are communicated to the receiving party. |
| Main contractor's responsible technical supervisor Mandatory | The receiving party – takes over the site, and from this point bears technical and occupational safety responsibility for it. Personal attendance is mandatory; a proxy is not sufficient. |
| Safety and Health Coordinator (BE Coordinator) Mandatory | Mandatory attendance under Decree 4/2002. – responsible for the transfer of HSE obligations. Records identified hazards and the safety conditions in force at the time of handover. |
| Project / development manager Recommended | The client's technical representative – conveys design and permit documentation, clarifies boundary and interface issues. |
| Utility company representatives Where needed | On-site demonstration and documentation of active utility networks, protection zones and isolation points. |
| Environmental manager If relevant | Communicates hazardous material findings, soil contamination issues and environmental permit conditions. |
HSE Professional Guide · Issue 4 · 2026 · Government Decree 191/2009. and Decree 4/2002. (II.20.) SzCsM-EüM
⛔ If any mandatory participant is absent
- The BE Coordinator's presence is non-negotiable – their absence renders the handover invalid from an occupational safety perspective
- The main contractor's responsible technical supervisor must attend in person – a proxy is not sufficient
- If any mandatory participant is absent, the handover must be postponed
The Procedure
The three stages of the site handover:
Stage 1 · Preparation (at least 5–10 working days before handover)
- The client collects and prepares all required documentation
- The preliminary Safety and Health Plan is prepared and approved by the BE Coordinator – a prerequisite for handover
- The main contractor's BE Coordinator carries out a preliminary site visit and risk assessment
- Liaison with utility companies regarding active networks and required isolations
- Preparation of the draft site handover record
- Notification of participants and agreement of date and time
Stage 2 · On-site walkthrough and handover
- Assembly at the site entrance – identification of participants, signing of attendance sheet
- Physical walkthrough of the site boundary and its identification
- On-site demonstration of active utility infrastructure – gas, water, drainage, electricity, telecoms networks, routes and isolation points
- Presentation of known hazards – soil contamination, asbestos-containing materials, unstable surfaces, structures at risk of collapse
- Communication of access routes, neighbouring areas and restrictions
- Presentation of preservation obligations – existing buildings, structures, vegetation
- Communication of HSE conditions – working hour restrictions, noise protection requirements
- Recording of questions and observations on site – all disputed points must be documented immediately
Stage 3 · Documentation and close-out
- Completion and signing of the site handover record on site
- Recording of deficiencies, outstanding obligations and deadlines
- Photographic documentation – at every corner and every known problem area
- Handover of the document pack and confirmation of receipt
- Opening of the Construction Log and entry of the first record
- Handover of the Safety and Health Plan (preliminary and construction-phase) with confirmation of receipt
Required Documents
The site handover is a complex process in which, beyond the HSE documentation, a number of other documents are required for safe commencement of works. The table below indicates the responsible party for each document and whether it has direct HSE relevance. The BE Coordinator's role is to verify that documents are in place – not to prepare them.
⚠️ Important note
- The document list below is not exhaustive – depending on the nature, scale and regulatory requirements of individual projects, additional documents may be required
- Specific documentation requirements may vary between different sites and project types – this general guide does not replace project-specific legal and technical advice
- It is the BE Coordinator's responsibility to identify the complete documentation requirements appropriate to the specific project
| Document | Responsible party | HSE relevance |
|---|---|---|
| Final building permit | Client / employer | Non-HSE – but no work may commence without it; the BE Coordinator verifies its presence |
| Approved construction design documentation | Client / designer | Non-HSE – the BE Coordinator must be familiar with the designs to identify HSE risks |
| Preliminary Safety and Health Plan (design phase) | BE Coordinator | HSE – direct BE Coordinator responsibility |
| Construction-phase Safety and Health Plan | BE Coordinator | HSE – a prerequisite for handover; direct BE Coordinator responsibility |
| Advance notification to the Occupational Safety and Labour Inspectorate | Client / BE Coordinator | HSE – required where works exceed 30 working days with >20 workers simultaneously, or >500 person-days |
| Environmental permits, heritage protection consents (where relevant) | Client | Non-HSE – may contain restrictions affecting working conditions |
| Document | Responsible party | HSE relevance |
|---|---|---|
| Utility declarations and utility maps | Client / utility companies | HSE – excavation works cannot be carried out safely without knowledge of active utilities |
| Isolation point documentation | Utility companies / client | HSE – immediate access to isolation points in an emergency is mandatory |
| Geotechnical report and soil investigation data | Client / designer | Non-HSE – but required for risk assessment of excavation and foundation works |
| Geodetic survey and setting-out documentation | Client / designer | Non-HSE – the BE Coordinator verifies its presence |
| Document | Responsible party | HSE relevance |
|---|---|---|
| Asbestos survey results and asbestos register | Client | HSE – mandatory where demolition works are involved; absence requires refusal of handover |
| Soil and groundwater contamination survey | Client | HSE – presence of hazardous substances is fundamental risk assessment data |
| Prior surveys for hazardous substances | Client | HSE – particularly critical on sites with an industrial or military history |
| Noise and vibration regulatory requirements and authority orders | Client / authority | HSE – relevant for worker exposure and protection of neighbouring areas |
HSE Professional Guide · Issue 4 · 2026 · The BE Coordinator is responsible for verifying the presence of documents – not for preparing them
ℹ️ The BE Coordinator's role in documentation
- The BE Coordinator is not responsible for preparing permit, technical or geodetic documents – these are the responsibility of the client and designer
- The BE Coordinator is responsible for verifying that these documents are available before handover, and for incorporating the information they contain into the Safety and Health Plan and risk assessment
- If any document is missing, the BE Coordinator must record this in the handover record and, where necessary, recommend refusal of the handover
Conditional Acceptance
If any required document is missing at handover, the main contractor has two options:
Option 1 – Refuse the handover
- Where the absence of documentation means that safe working cannot be guaranteed (e.g. no utility declarations, no Safety and Health Plan, no valid building permit)
- The handover must be postponed until the missing documents are provided
- The refusal must be recorded in writing with the reason stated
Option 2 – Accept with reservations
- The deficiencies are recorded in the handover record in itemised form
- Mandatory deadlines are set for provision of missing documents
- It is recorded that the affected work phases may not commence until the missing documents are received
Signing without reservations means the main contractor has accepted the site in its condition as at handover – and cannot subsequently claim that the client failed to disclose known hazards.
The Handover Record
The construction site handover record is the sole reliable evidence of the procedure. It is a key document in court, regulatory and insurance proceedings. The record must contain:
- The exact date and time of handover – year, month, day, hour, minute
- Precise identification of the site – address, plot number, description of the handed-over area
- Identification of the handing-over party – client's name, registered address, representative's name and role
- Identification of the receiving party – main contractor's name, responsible technical supervisor's name and licence number
- The BE Coordinator's name, qualification certificate number and signature
- An itemised list of documents handed over and confirmation of their receipt
- Description of the physical condition of the site at handover
- Identified hazards and existing risks – listed specifically, not in general terms
- List of active utility networks and isolation points
- Obligations remaining with the client after handover
- Itemised list of deficiencies and reservations with deadlines
- The Construction Log identifier and record of its opening
- Signatures and stamps of all participants
- List of appendices – photographic record, utility declarations, Safety and Health Plan extract
Connection to HSE Coordination
Immediate HSE tasks following handover:
- The site handover record becomes a mandatory appendix to the Safety and Health Plan
- The BE Coordinator must update the risk assessment based on hazards identified at handover
- The first safety coordination meeting must be held within 5 working days of handover
- Site mobilisation may only commence within the boundaries of the handed-over and documented area
- If the client subsequently wishes to reclaim any part of the site for any reason, a new handover procedure is required
- When entries are mandatory and when they are recommended – a detailed guide
- Work stoppage, accident, regulatory inspection – what to record and how
- What the coordinator must never enter in the Construction Log
Statutory references
- Act C of 2023 on Hungarian Architecture (Méptv.) and the associated implementing government decrees that came into force on 1 October 2024
- Government Decree 191/2009. (IX.15.) on construction industry execution activities (Construction Code) – as amended with effect from 1 October 2024 pursuant to Act C of 2023
- Decree 4/2002. (II.20.) SzCsM-EüM on minimum occupational safety requirements on construction sites
- Act XCIII of 1993 on Occupational Safety (OHS Act)
- Government Decree 320/2014. (XII.13.) on the designation of occupational safety and labour authorities