Energy Conservation Program for Certain Industrial Equipment: Energy Conservation Standards and Test Procedures for Commercial Heating, Air-Conditioning, and Water-Heating Equipment, 36312-36356 [E9-16774]
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Federal Register / Vol. 74, No. 139 / Wednesday, July 22, 2009 / Rules and Regulations
DEPARTMENT OF ENERGY
10 CFR Part 431
[Docket No. EERE–2008–BT–STD–0013]
RIN 1904–AB83
Energy Conservation Program for
Certain Industrial Equipment: Energy
Conservation Standards and Test
Procedures for Commercial Heating,
Air-Conditioning, and Water-Heating
Equipment
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AGENCY: Office of Energy Efficiency and
Renewable Energy, Department of
Energy.
ACTION: Final rule.
SUMMARY: The U.S. Department of
Energy (DOE) is adopting amended
energy conservation standards for
commercial packaged boilers and
adopting a new energy conservation
standard for water-cooled and
evaporatively-cooled commercial
package air conditioners and heat
pumps with a cooling capacity at or
above 240,000 Btu/h and less than
760,000 Btu/h at the efficiency levels
specified in the American Society of
Heating, Refrigerating and AirConditioning Engineers, Inc. (ASHRAE)/
Illuminating Engineering Society of
North America (IESNA) Standard 90.1–
2007. DOE has determined that the
ASHRAE Standard 90.1–2007 efficiency
levels for commercial packaged boilers
are more stringent than the existing
Federal energy conservation standards
and will result in economic and energy
savings compared to existing energy
conservation standards. Furthermore,
DOE has concluded that clear and
convincing evidence does not exist, as
would justify more-stringent standard
levels than the efficiency levels in
ASHRAE Standard 90.1–2007. In
addition, DOE is adopting related
amendments to its test procedures for
commercial packaged boilers.
DATES: This rule is effective September
21, 2009. The standards for commercial
packaged boilers established in this
final rule will apply starting on March
2, 2012. The standards for water-cooled
and evaporatively-cooled commercial
package air conditioners and heat
pumps with a cooling capacity at or
above 240,000 Btu/h and less than
760,000 Btu/h established in this final
rule will apply starting on January 10,
2011. The incorporation by reference of
certain publications listed in this final
rule was approved by the Director of the
Federal Register on September 21, 2009.
ADDRESSES: For access to the docket to
read background documents or
comments received, visit the U.S.
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Department of Energy, Resource Room
of the Building Technologies Program,
950 L’Enfant Plaza, SW., 6th Floor,
Washington, DC 20024, (202) 586–2945,
between 9 a.m. and 4 p.m., Monday
through Friday, except Federal holidays.
Please call Ms. Brenda Edwards at the
above telephone number for additional
information regarding visiting the
Resource Room. You may also obtain
copies of the final rule in this
proceeding, related documents (e.g., the
notice of proposed rulemaking and
technical support document DOE used
to reassess whether to adopt certain
efficiency levels in ASHRAE Standard
90.1), draft analyses, public meeting
materials, and related test procedure
documents from the Office of Energy
Efficiency and Renewable Energy’s Web
site at: https://www1.eere.energy.gov/
buildings/appliance_standards/
commercial/
ashrae_products_docs_meeting.html.
FOR FURTHER INFORMATION CONTACT: Mr.
Mohammed Khan, U.S. Department of
Energy, Office of Energy Efficiency and
Renewable Energy, Building
Technologies Program, Mailstop EE–2J,
1000 Independence Avenue, SW.,
Washington, DC 20585–0121.
Telephone: (202) 586–7892. E-mail:
Mohammed.Khan@ee.doe.gov.
Mr. Michael Kido or Mr. Eric Stas,
U.S. Department of Energy, Office of the
General Counsel, Mailstop GC–72,
Forrestal Building, 1000 Independence
Avenue, SW., Washington, DC 20585–
0121. Telephone: (202) 586–8145 or
(202) 586–5827. E-mail:
Michael.Kido@hq.doe.gov or
Eric.Stas@hq.doe.gov.
SUPPLEMENTARY INFORMATION:
This final rule incorporates by
reference into subpart E of Title 10,
Code of Federal Regulations, part 431
(10 CFR part 431), the following
standard:
• The Hydronics Institute Division of
GAMA BTS–2000 Testing Standard,
(‘‘HI BTS–2000, Rev06.07’’), Method to
Determine Efficiency of Commercial
Space Heating Boilers, Second Edition
(Rev 06.07), 2007.
The Gas Appliance Manufacturers
Association (GAMA) merged in 2008
with the Air-Conditioning and
Refrigeration Institute to become the
Air-Conditioning, Heating, and
Refrigeration Institute (AHRI). The
Hydronics Institute BTS–2000 Testing
Standard can be obtained from AHRI.
Copies of HI BTS–2000 can be obtained
from the Hydronics Institute Section of
AHRI, P.O. Box 218, Berkeley Heights,
NJ 07922–0218, (866) 408–3831, or go
to: https://www.ahrinet.org/Content/
OrderaStandard_573.aspx.
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Table of Contents
I. Summary of Final Rule
II. Introduction
A. Authority
B. Background
1. ASHRAE Standard 90.1–2007
2. Notice of Data Availability and Request
for Public Comment
3. Notice of Proposed Rulemaking
4. Notice of Data Availability and Request
for Public Comment—Environmental
Assessment and Emissions Monetization
III. General Discussion of Comments
Regarding the March 2009 NOPR, the
ASHRAE Process, and DOE’s
Interpretation of EPCA’s Requirements
With Respect to ASHRAE Equipment
A. Equipment Classes With a Two-Tier
Efficiency Level Specified in ASHRAE
Standard 90.1–2007
B. The Definition of Amendment With
Respect to the Efficiency Levels in an
ASHRAE Standard
C. DOE’s Review of ASHRAE Equipment
Independent of the ASHRAE Standards
Process
D. Combination Efficiency Level and
Design Requirements in ASHRAE
Standard 90.1–2007
E. The Proposed Energy Conservation
Standards for Commercial Packaged
Boilers
F. Commercial Electric Instantaneous
Water Heaters
IV. General Discussion of the Changes in
ASHRAE Standard 90.1–2007 and
Determination of Scope for Further
Rulemaking Analyses
V. Methodology and Discussion of Comments
for Commercial Packaged Boilers
A. Test Procedures
B. Market Assessment
C. Engineering Analysis
1. Approach and Assumptions
2. Results
D. Markups To Determine Equipment Price
E. Energy Use Characterization
F. Life-Cycle Cost and Payback Period
Analyses
G. Shipments Analysis
H. National Impact Analysis—National
Energy Savings and Net Present Value
Analysis
I. Environmental Assessment
1. Sulfur Dioxide
2. Nitrogen Oxides
J. Monetizing Carbon Dioxide and Other
Emissions Impacts
K. Other Issues
1. Impact of Standards on Natural Gas
Prices
2. Effective Date of the Amended Energy
Conservation Standards for Commercial
Packaged Boilers
VI. Analytical Results for Commercial
Packaged Boilers
A. Efficiency Levels Analyzed
B. Economic Justification and Energy
Savings
1. Economic Impacts on Commercial
Customers
2. National Impact Analysis
3. Need of the Nation To Conserve Energy
C. Amended Energy Conservation
Standards for Commercial Packaged
Boilers
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D. Amended Energy Conservation
Standards for Water-Cooled and
Evaporatively-Cooled Commercial
Package Air Conditioners and Heat
Pumps With a Cooling Capacity at or
Above 240,000 Btu/h and Less Than
760,000 Btu/h
VII. Procedural Issues and Regulatory Review
A. Review Under Executive Order 12866
B. Review Under the National
Environmental Policy Act
C. Review Under the Regulatory Flexibility
Act
D. Review Under the Paperwork Reduction
Act
E. Review Under the Unfunded Mandates
Reform Act of 1995
F. Review Under the Treasury and General
Government Appropriations Act, 1999
G. Review Under Executive Order 13132
H. Review Under Executive Order 12988
I. Review Under the Treasury and General
Government Appropriations Act, 2001
J. Review Under Executive Order 13211
K. Review Under Executive Order 12630
L. Review Under Section 32 of the Federal
Energy Administration Act of 1974
M. Review Under the Information Quality
Bulletin for Peer Review
N. Congressional Notification
VIII. Approval of the Office of the Secretary
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I. Summary of Final Rule
The Energy Policy and Conservation
Act (42 U.S.C. 6291 et seq.), as amended
(EPCA), requires DOE to consider
amending the existing Federal energy
conservation standard for each type of
equipment listed (generally, commercial
water heaters, commercial packaged
boilers, commercial air conditioning
and heating equipment, and packaged
terminal air conditioners and heat
pumps), each time ASHRAE Standard
90.1, Energy Standard for Buildings
Except Low-Rise Residential Buildings
(ASHRAE Standard 90.1 or, in context,
Standard 90.1), is amended with respect
to such equipment. (42 U.S.C.
6313(a)(6)(A)) For each type of
equipment, EPCA directs that if
ASHRAE Standard 90.1 is amended,1
DOE must adopt amended energy
conservation standards at the new
1 Although EPCA does not explicitly define the
term ‘‘amended’’ in the context of ASHRAE
Standard 90.1, DOE provided its interpretation of
what would constitute an ‘‘amended standard’’ in
a final rule published in the Federal Register on
March 7, 2007 (hereafter referred to as the March
2007 final rule). 72 FR 10038. In that rule, DOE
explained that the statutory trigger requiring DOE
to adopt uniform national standards based on
ASHRAE action is the amending of an efficiency
level by ASHRAE for any of the equipment listed
in EPCA section 342(a)(6)(A)(i) (42 U.S.C.
6313(a)(6)(A)(i)) by increasing the energy efficiency
level for that equipment type. Id. at 10042. In other
words, if the revised ASHRAE Standard 90.1 leaves
the standard level unchanged or lowers the
standard, as compared to the level specified by the
national standard adopted pursuant to EPCA, DOE
does not have the authority to conduct a rulemaking
to consider a higher standard for that equipment
pursuant to 42 U.S.C. 6313(a)(6)(A).
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efficiency level in ASHRAE Standard
90.1, unless clear and convincing
evidence supports a determination that
adoption of a more-stringent efficiency
level as a national standard would
produce significant additional energy
savings and be technologically feasible
and economically justified. (42 U.S.C.
6313(a)(6)(A)(ii)) If DOE decides to
adopt as a national standard the
efficiency levels specified in the
amended ASHRAE Standard 90.1, DOE
must establish such standard not later
than 18 months after publication of the
amended industry standard. (42 U.S.C.
6313(a)(6)(A)(ii)(I)) If DOE determines
that a more-stringent standard is
appropriate, DOE must establish an
amended standard not later than 30
months after publication of the revised
ASHRAE Standard 90.1. (42 U.S.C.
6313(a)(6)(B))
DOE published a notice of proposed
rulemaking on March 20, 2009 (March
2009 NOPR), in the Federal Register
describing DOE’s determination of
scope for considering amended energy
conservation standards with respect to
certain heating, ventilating, airconditioning, and water-heating
equipment addressed in ASHRAE
Standard 90.1–2007. 74 FR 12000;
12008–20. ASHRAE Standard 90.1–
2007, which was formally adopted by
the group’s Board of Directors in early
January 2008, generally retained the
energy efficiency levels already in place,
except with respect to commercial
packaged boilers and one class of
commercial package air conditioners
and heat pumps—water cooled and
evaporatively cooled air conditioners
and heat pumps with a cooling capacity
at or above 240,000 Btu/h and less than
760,000 Btu/h. See 74 FR 12004.
For the commercial package air
conditioning and heating equipment
covered in this rulemaking, ASHRAE
assigned an effective date of January 10,
2008. For eight equipment classes of
commercial packaged boilers, ASHRAE
assigned an effective date of March 2,
2010. For the remaining two equipment
classes of commercial packaged boilers
covered by this rulemaking, ASHRAE
created two-tiered effective dates—
March 2, 2010, for an initial increase in
the efficiency level and March 2, 2020,
for the next required level.
In determining the scope of the
rulemaking, DOE is statutorily required
to ascertain whether the revised
ASHRAE efficiency levels have become
more stringent, thereby ensuring that
any new amended national standard
would not result in ‘‘backsliding,’’
which is prohibited under 42 U.S.C.
6295(o)(1) and 42 U.S.C. 6316(a). For
those equipment classes for which
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ASHRAE set more-stringent efficiency
levels (i.e., commercial packaged
boilers), DOE analyzed the economic
and energy savings potential of
amended national energy conservation
standards (at both the new ASHRAE
Standard 90.1 efficiency levels and
more-stringent efficiency levels) in the
March 2009 NOPR. 74 FR 12037–41.
The energy conservation standards in
today’s final rule, which apply to all
commercial packaged boilers and watercooled and evaporatively-cooled
commercial package air conditioners
and heat pumps with a cooling capacity
at or above 240,000 Btu/h and less than
760,000 Btu/h, satisfy all applicable
requirements of EPCA and will achieve
the maximum improvements in energy
efficiency that are technologically
feasible and economically justified. (See
42 U.S.C. 6316(a); 42 U.S.C.
6295(o)(2)(A)) DOE has concluded that,
based on the information presented and
its analyses, there is not clear and
convincing evidence justifying adoption
of more-stringent efficiency levels for
this equipment.
Thus, in accordance with the criteria
discussed in this notice, DOE is
adopting amended energy conservation
standards for ten equipment classes of
commercial packaged boilers and
adopting a new energy conservation
standard for water-cooled and
evaporatively-cooled commercial
package air conditioners and heat
pumps with a cooling capacity at or
above 240,000 Btu/h and less than
760,000 Btu/h by adopting the
efficiency levels specified by ASHRAE
Standard 90.1–2007. Pursuant to EPCA,
the compliance date for amended energy
conservation standards based upon the
levels in ASHRAE Standard 90.1 is
either two or three years after the
effective date of the requirement in the
amended ASHRAE standard, depending
on the type and size of the equipment.
(See 42 U.S.C. 6313(a)(6)(D)) In the
present case, the amended standards for
commercial packaged boilers apply to
the ten equipment classes of commercial
packaged boilers manufactured on or
after the date two years after the
effective date specified in ASHRAE
Standard 90.1–2007. (42 U.S.C.
6313(a)(6)(D)(i)) The amended standards
for water-cooled and evaporativelycooled commercial package air
conditioners and heat pumps with a
cooling capacity at or above 240,000
Btu/h and less than 760,000 Btu/h apply
to such equipment manufactured on or
after the date three years after the
effective date specified in ASHRAE
Standard 90.1–2007. (42 U.S.C.
6313(a)(6)(D)(ii)) Table I.1 shows the
energy conservation standards that DOE
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is adopting today and their respective
effective dates.
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In addition, DOE is adopting
amendments to its test procedures for
commercial packaged boilers, which
manufacturers are required to use to
certify compliance with energy
conservation standards mandated under
EPCA. See 42 U.S.C. 6314(a)(4) and 10
CFR part 431.86. Specifically, these
amendments, which were proposed in
the March 2009 NOPR, update the
citations and references to the most
recent version of the industry standards
already referenced in DOE’s test
procedures. 74 FR 12020–22. In
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addition, these amendments specify a
definition and methodology to test the
thermal efficiency of these boilers,
which is the metric DOE is adopting for
eight of the ten equipment classes of
commercial packaged boilers to conform
with the new energy efficiency metric
adopted in ASHRAE Standard 90.1–
2007. Lastly, these amendments make a
small number of technical modifications
to DOE’s existing test procedure for
commercial packaged boilers, including
deleting obsolete references and
renumbering appropriate sections of the
CFR.
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II. Introduction
A. Authority
Title III of EPCA, Public Law 94–163,
as amended, sets forth a variety of
provisions concerning energy efficiency.
Part A–1 2 of Title III created the energy
conservation program for certain
industrial equipment. (42 U.S.C. 6311–
6317) In general, this program addresses
the energy efficiency of certain types of
2 For editorial reasons, Parts B (consumer
products) and C (commercial equipment) of Title III
of EPCA were redesignated as Parts A and A–1,
respectively, in the United States Code.
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commercial and industrial equipment.
Part A–1 specifically includes
definitions (42 U.S.C. 6311), energy
conservation standards (42 U.S.C. 6313),
test procedures (42 U.S.C. 6314),
labeling provisions (42 U.S.C. 6315),
and the authority to require information
and reports from manufacturers (42
U.S.C. 6316).
EPCA contains mandatory energy
conservation standards for commercial
heating, air-conditioning, and waterheating equipment. (42 U.S.C. 6313(a))
Specifically, the statute sets standards
for small, large, and very large
commercial packaged air-conditioning
and heating equipment, packaged
terminal air conditioners (PTACs) and
packaged terminal heat pumps (PTHPs),
warm air furnaces, packaged boilers,
storage water heaters, and unfired hot
water storage tanks. Id. In doing so,
EPCA established Federal energy
conservation standards that generally
correspond to the levels in ASHRAE
Standard 90.1, as in effect on October
24, 1992 (i.e., ASHRAE Standard 90.1–
1989), for each type of covered
equipment listed in 42 U.S.C. 6313(a).
Congress further directed DOE to
consider amending the existing Federal
energy conservation standard for each
type of equipment listed whenever
ASHRAE amends the efficiency levels
in Standard 90.1. (42 U.S.C.
6313(a)(6)(A)) For each type of listed
equipment, EPCA directs that if
ASHRAE amends Standard 90.1, DOE
must adopt amended standards at the
new ASHRAE efficiency level unless
clear and convincing evidence supports
a determination that adoption of a more
stringent level would produce
significant additional energy savings
and would be technologically feasible
and economically justified. (42 U.S.C.
6313(a)(6)(A)(ii)) If DOE decides to
adopt as a national standard the
efficiency levels specified in the
amended ASHRAE Standard 90.1, DOE
must establish such standard not later
than 18 months after publication of the
amended industry standard. (42 U.S.C.
6313(a)(6)(A)(ii)(I)) However, if DOE
determines that a more-stringent
standard is justified under 42 U.S.C.
6313(a)(6)(A)(ii)(II), then it must
establish such more-stringent standard
not later than 30 months after
publication of the amended ASHRAE
Standard 90.1. (42 U.S.C. 6313(a)(6)(B))
ASHRAE officially released and made
public on January 10, 2008, ASHRAE
Standard 90.1–2007. This action
triggered DOE’s obligations under 42
U.S.C. 6313(a)(6), as outlined above.
Pertinent to any rulemaking in
response to an ASHRAE revision of
Standard 90.1, DOE must evaluate the
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amended efficiency levels to ensure that
the adoption of the revised Standard
90.1 levels does not result in the
promulgation of any amended standard
that either increases the maximum
allowable energy use or decreases the
minimum required energy efficiency of
covered equipment. (42 U.S.C.
6295(o)(1); 42 U.S.C. 6316(a)) This
‘‘anti-backsliding’’ provision acts as a
statutory backstop to help preserve the
stringency of established DOE energy
efficiency standards. See Natural
Resources Defense Council v. Abraham,
355 F.3d 179 (2d Cir. 2004).
When considering the possibility of a
more-stringent standard, EPCA requires
DOE to consider a variety of factors,
with the primary ones being whether a
more-stringent standard would be
technologically feasible, economically
justified, and be likely to produce
significant additional energy savings.
For example, EPCA provides that in
deciding whether such a standard is
economically justified, DOE must
determine, after receiving comments on
the proposed standard, whether the
benefits of the standard exceed its
burdens by considering, to the greatest
extent practicable, the following seven
factors:
1. The economic impact of the
standard on manufacturers and
consumers of the products subject to the
standard;
2. The savings in operating costs
throughout the estimated average life of
the product in the type (or class)
compared to any increase in the price
of, or in the initial charges for, or
maintenance expenses of the products
which are likely to result from the
imposition of the standard;
3. The total projected amount of
energy savings likely to result directly
from the imposition of the standard;
4. Any lessening of the utility or the
performance of the products likely to
result from the imposition of the
standard;
5. The impact of any lessening of
competition, as determined in writing
by the Attorney General, that is likely to
result from the imposition of the
standard;
6. The need for national energy
conservation; and
7. Other factors the Secretary
considers relevant.
(42 U.S.C. 6295(o)(2)(B)(i)–(ii); 42 U.S.C.
6316(a))
Additionally, the Secretary may not
prescribe an amended standard if
interested persons have established by a
preponderance of the evidence that the
amended standard is ‘‘likely to result in
the unavailability in the United States of
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any product type (or class)’’ with
performance characteristics, features,
sizes, capacities, and volumes that are
substantially the same as those generally
available in the United States at the time
of the Secretary’s finding. (42 U.S.C.
6295(o)(4); 42 U.S.C. 6316(a))
Federal energy conservation
requirements for commercial equipment
generally supersede State laws or
regulations concerning energy
conservation testing, labeling, and
standards. (42 U.S.C. 6316(a)–(b))
However, DOE can grant waivers of
preemption for particular State laws or
regulations, in accordance with section
327(d) of EPCA. (42 U.S.C. 6297(d) and
6316(b)(2)(D))
When considering more stringent
standards for the ASHRAE equipment
under consideration here, EPCA states,
in relevant part, that there is a
rebuttable presumption that an energy
conservation standard is economically
justified if the additional cost to the
consumer of a product that meets the
standard level is less than three times
the value of the first-year energy (and,
as applicable, water) savings resulting
from the standard, as calculated under
the applicable DOE test procedure. (42
U.S.C. 6295(o)(2)(B)(iii) and 42 U.S.C.
6316(a)) Generally, DOE’s life cycle cost
(LCC) and payback period (PBP)
analyses generate values that calculate
the payback period for consumers of
potential energy conservation standards,
which includes, but is not limited to,
the three-year payback period
contemplated under the rebuttable
presumption test discussed above.
However, DOE routinely conducts a full
economic analysis that considers the
full range of impacts, including those to
the consumer, manufacturer, Nation,
and environment, as required under 42
U.S.C. 6295(o)(2)(B)(i) and 42 U.S.C.
6316(a). The results of this analysis
serve as the basis for DOE to definitively
evaluate the economic justification for a
potential standard level (thereby
supporting or rebutting the results of
any preliminary determination of
economic justification).
B. Background
1. ASHRAE Standard 90.1–2007
On January 9, 2008, ASHRAE’s Board
of Directors gave final approval to
ASHRAE Standard 90.1–2007, which
ASHRAE released on January 10, 2008.
ASHRAE Standard 90.1 addresses
efficiency levels for many types of
commercial heating, ventilating, airconditioning (HVAC), and water-heating
equipment covered by EPCA; it revised
the efficiency levels for certain
commercial equipment, while leaving in
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place the preexisting efficiency levels
for the remaining equipment. For the
equipment classes where ASHRAE left
the preexisting efficiency in place, the
efficiency levels specified in ASHRAE
Standard 90.1–1999 were carried
forward and continue to apply.3
Table II.1 below shows the current
Federal energy conservation standards
and the new efficiency levels for
equipment affected by the changes made
by ASHRAE Standard 90.1–2007. In
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3 DOE reviewed and adopted some of the
efficiency levels in ASHRAE Standard 90.1–1999 in
a Final Rule published on January 12, 2001. 66 FR
3336.
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section IV of the March 2009 NOPR,
DOE assessed these equipment types to
determine whether the ASHRAE
amendments constitute increased
energy conservation levels that would
necessitate further analysis. 74 FR
12008–20. This step was necessary
because DOE found that while ASHRAE
had made changes in ASHRAE Standard
90.1–2007, it was not immediately
apparent whether these changes to the
energy efficiency levels would make the
equipment more or less efficient, when
compared to the existing Federal energy
conservation standards. For example,
when setting a standard using a
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different efficiency metric (as is the case
for several types of commercial
packaged boiler equipment), ASHRAE
Standard 90.1–2007 changes the
standard level from that specified in
EPCA. However, it is not immediately
clear whether this modified level will
result in increased or reduced
efficiency. Therefore, DOE undertook
this additional threshold analysis to
thoroughly evaluate the amendments in
ASHRAE Standard 90.1–2007 in a
manner consistent with its statutory
mandate.
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2. Notice of Data Availability and
Request for Public Comment
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On July 16, 2008, DOE published a
notice of data availability (July 2008
NODA) and request for public comment
in the Federal Register as a preliminary
step pursuant to EPCA’s requirements
for DOE to consider amended energy
conservation standards for certain types
of commercial equipment covered by
ASHRAE Standard 90.1. 73 FR 40770
(July 16, 2008). Specifically, the July
2008 NODA presented for public
comment DOE’s analysis of the potential
energy savings estimates for amended
national energy conservation standards
for types of commercial equipment
based on: (1) the modified efficiency
levels contained within ASHRAE
Standard 90.1–2007; and (2) morestringent efficiency levels. 73 FR 40772.
DOE has described these analyses and
preliminary conclusions and sought
input from interested parties, including
the submission of data and other
relevant information. Id.
In addition, DOE discussed the
changes introduced by Standard 90.1–
2007 and presented an initial
description of DOE’s evaluation of each
ASHRAE equipment type to determine
which energy conservation standards, if
any, have been set pursuant to EPCA, in
order for DOE to determine whether the
amendments in ASHRAE Standard
90.1–2007 result in increased efficiency
levels when compared with the current
Federal standards. 74 FR 40776–86.
Regarding equipment for which
ASHRAE increased efficiency levels
through Standard 90.1–2007, DOE
subjected these equipment efficiency
levels to the potential energy savings
analysis discussed above and presented
the results for public comment. Id.
As a result of the preliminary
determination of scope set forth in the
July 2008 NODA, DOE found that the
ten equipment classes of commercial
packaged boilers described by ASHRAE
were the only equipment type available
on the market for which ASHRAE
increased the efficiency levels. Id. DOE
presented its methodology, data, and
results for the preliminary energy
savings analysis developed for most of
the commercial packaged boiler
equipment classes in the July 2008
NODA for public comment. 72 FR
40786–91.
3. Notice of Proposed Rulemaking
On March 20, 2009, DOE published a
NOPR in the Federal Register proposing
to amend the energy conservation
standards for ten equipment classes of
commercial packaged boilers and to
adopt a new energy conservation
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standard for water-cooled and
evaporatively-cooled commercial
packaged air conditioners and heat
pumps with a cooling capacity at or
above 240,000 Btu/h and less than
760,000 Btu/h by adopting the
efficiency levels specified by ASHRAE
Standard 90.1–2007. 74 FR 12000.
The March 2009 NOPR also contained
DOE’s determination of scope for
consideration of amended energy
conservation standards with respect to
certain heating, ventilating, airconditioning, and water-heating
equipment addressed in ASHRAE
Standard 90.1–2007 and shown in Table
II.1, above. 74 FR 12008–20. For
commercial packaged boilers, DOE
analyzed the economic and energy
savings potential of amended national
energy conservation standards (at both
the new ASHRAE Standard 90.1
efficiency levels and more stringent
efficiency levels). See generally 74 FR
12020–41. DOE also explained in the
March 2009 NOPR that it did not
analyze the economic and energy
savings potential of amended national
energy conservation standards for watercooled and evaporatively cooled
commercial packaged air conditioners
and heat pumps with a cooling capacity
at or above 240,000 Btu/h and less than
760,000 Btu/h because there is no
equipment currently being
manufactured in this equipment class.
74 FR 12013.
In addition, DOE proposed
amendments to its test procedures for
commercial packaged boilers to update
the citations and references to the most
recent version of the industry standards
already referenced in DOE’s test
procedures. 74 FR 12020–22. DOE also
proposed to add a definition and
methodology to test the thermal
efficiency for eight of the ten equipment
classes of commercial packaged boilers,
which was the metric DOE had
proposed. Id.
4. Notice of Data Availability and
Request for Public Comment—
Environmental Assessment and
Emissions Monetization
On June 3, 2009, DOE published a
NODA and request for public comment
on the environmental assessment (EA)
for the March 2009 NOPR proposing
amended energy conservation standards
for commercial packaged boilers and
water-cooled and evaporatively-cooled
commercial package air conditioners
and heat pumps with a cooling capacity
at or above 240,000 Btu/h and less than
760,000 Btu/h. 74 FR 26596. The EA
included a concise examination of the
impacts of emission reductions likely to
result from the proposed standards for
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these two equipment types, as presented
in Chapter 8 of the NOPR TSD. DOE
also performed an emissions
monetization analysis of those potential
emission reductions and described the
results of the monetization analysis in
Chapter 9 of the NOPR TSD. Id. See
https://www1.eere.energy.gov/buildings/
appliance_standards/commercial/pdfs/
ch_8_ashrae_nopr_tsd.pdf for the EA
and https://www1.eere.energy.gov/
buildings/appliance_standards/
commercial/pdfs/
ch_9_ashrae_nopr_tsd.pdf for the
monetization analysis. DOE received no
comments on the EA or the emissions
monetization analysis described by the
June 2009 NODA. 74 FR 26596.
III. General Discussion of Comments
Regarding the March 2009 NOPR, the
ASHRAE Process, and DOE’s
Interpretation of EPCA’s Requirements
With Respect to ASHRAE Equipment
In response to the March 2009 NOPR,
DOE received three comments from
manufacturers, trade associations, and
energy efficiency advocates. In addition,
DOE received a comment from the U.S.
Department of Justice (DOJ) regarding
the potential impact on competition of
proposed amended energy conservation
standards for commercial packaged
boilers and certain commercial package
air-conditions and heat pumps. The
issues raised in these comments, along
with DOE’s responses, are set forth
below.
A. Equipment Classes With a Two-Tier
Efficiency Level Specified in ASHRAE
Standard 90.1–2007
For commercial packaged boilers,
ASHRAE Standard 90.1–2007 further
divides the existing equipment classes
(i.e., gas-fired and oil-fired) into 10
different categories. For two of the ten
categories specified in ASHRAE
Standard 90.1–2007, ASHRAE specifies
a two-tier efficiency level, with one
efficiency level effective in 2010 and
another more-stringent efficiency level
effective in 2020. The two categories
where ASHRAE Standard 90.1–2007
specifies a two-tier efficiency levels are
small gas-fired steam natural draft and
large gas-fired steam natural draft
commercial packaged boilers.
In response to DOE’s proposal for
small gas-fired steam natural draft and
large gas-fired steam natural draft
commercial packaged boilers, several
parties commented during the public
meeting regarding the adoption of twotiered efficiency levels. The American
Council for an Energy-Efficient
Economy (ACEEE) asserted that for a
rulemaking with an effective date of
March 2, 2012, it is inappropriate for
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DOE to pre-ordain any standards with
an effective date of March 2, 2022.
(ACEEE, Public Meeting Transcript, No.
12 at pp. 100–102) 4 ACEEE further
stated that it could not see any reason
why DOE would choose to bind itself
today to any standards in 2022 and that
in doing so, the dynamic at ASHRAE
would likely be influenced by DOE’s
actions. (ACEEE, Public Meeting
Transcript, No. 12 at p. 104) Lastly,
ACEEE stated it did not believe the
second-tier efficiency level was the
subject of any ASHRAE discussions.
(ACEEE, Public Meeting Transcript, No.
12 at pp. 100–102)
The Air-Conditioning, Heating, and
Refrigeration Institute (AHRI) asserted
that for steam natural draft commercial
packaged boilers, it is worth having a
second standard level with an effective
date of March 2, 2022. (AHRI, Public
Meeting Transcript, No. 12 at pp. 102–
103) Contrary to ACEEE’s assertion,
AHRI stated that the delayed effective
date (i.e., the second tier) was a part of
the ASHRAE discussions and the
purpose of this two-tiered approach was
to make an initial incremental efficiency
change while allowing for a longer lead
time for a larger improvement in
efficiency for this very small segment of
the market. According to AHRI, the
delayed date was to put manufacturers
of these products on notice that in 10
years the steam natural draft equipment
must be as efficient as non-natural draft
equipment. (AHRI, Public Meeting
Transcript, No. 12 at pp. 102–103)
Burnham Hydronics Institute
(Burnham) asserted that the proposed
levels for these two equipment classes
are going to result in energy savings
through boilers being modified or taken
off the market. (Burnham, Public
Meeting Transcript, No. 12 at pp. 103–
104) Burnham also predicted that
natural gas steam natural draft products
will be essentially eliminated in 2022
due to the second-tier requirements in
ASHRAE Standard 90.1–2007. Burnham
stated that manufacturers of these
products received additional time
because some applications (e.g., boiler
rooms with low head room) have no
currently available alternatives.
Burnham stated that the extra 10 years
4 ‘‘ACEEE, Public Meeting Transcript, No. 12 at
pp. 100–102’’ refers to (1) to a statement that was
submitted by the American Council for an EnergyEfficient Economy during the March 2009 NOPR
Public Meeting. It was recorded in the Resource
Room of the Building Technologies Program in the
docket under ‘‘Energy Conservation Program for
Certain Industrial Equipment: Energy Conservation
Standards for Commercial Heating, AirConditioning, and Water-Heating Equipment,’’
Docket Number EERE–2008–BT–STD–0013, as
comment number 12; and (2) a passage that appears
on pages 100 through 102 of that statement.
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affords manufacturers and owners of
buildings time to decide how to handle
those potential issues and to develop an
alternative. (Burnham, Public Meeting
Transcript, No. 12 at pp. 103–104)
DOE is adopting the two-tier
efficiency levels in ASHRAE Standard
90.1–2007 in today’s final rule for small
gas-fired steam natural draft and large
gas-fired steam natural draft commercial
packaged boilers. EPCA requires DOE to
adopt energy efficiency standards for
this equipment at the minimum level
specified in any amended ASHRAE
standard unless more-stringent
standards are supported by clear and
convincing evidence. (42 U.S.C.
6313(a)(6)(A)) Unless more-stringent
standards are appropriate (in which case
DOE can use its judgment to tailor the
relevant standard level(s)), the statute
does not provide DOE latitude to alter
or disregard the ASHRAE Standard 90.1
levels in whole or part. Because
ASHRAE adopted a tiered standard,
DOE cannot adopt one efficiency level
without adopting the latter efficiency
level. Accordingly, in its economic and
energy savings analysis, DOE analyzed
these two equipment classes as if both
the 2010 and 2020 levels will be
adopted on their respective effective
dates. In addition, DOE is adopting the
two-tier efficiency levels in ASHRAE
Standard 90.1–2007 as a ‘‘package’’ in
today’s final rule for small gas-fired
steam natural draft and large gas-fired
steam natural draft commercial
packaged boilers.
B. The Definition of Amendment With
Respect to the Efficiency Levels in an
ASHRAE Standard
As DOE noted in the July 2008 NODA
(73 FR 40771) and the March 2009
NOPR (74 FR 12006), EPCA does not
explicitly define the term ‘‘amended’’ in
the context of ASHRAE Standard 90.1.
DOE had previously interpreted what
would constitute an ‘‘amended
standard’’ in the context of ASHRAE
equipment in a final rule published in
the Federal Register on March 7, 2007
(72 FR 10038). In that final rule, DOE
explained that when ASHRAE increases
the efficiency level for any of the
equipment specified in EPCA section
´
342(a)(6)(A)(i) vis-a-vis the current DOE
standards, that action triggers the
requirement for DOE to consider
adoption of uniform national standards
based on these changes. 72 FR 10042. In
other words, if the revised ASHRAE
Standard 90.1 leaves the standard level
unchanged or lowers the standard, as
compared to the level specified by the
national standard adopted pursuant to
EPCA, DOE does not have the authority
to conduct a rulemaking to consider a
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higher standard for that equipment
pursuant to 42 U.S.C. 6313(a)(6)(A). 73
FR 40771.
In response to DOE’s interpretation of
the definition of ‘‘amendment,’’ the
Appliance Standards Awareness Project
(ASAP), ACEEE, the Alliance to Save
Energy (ASE), the Natural Resources
Defense Council (NRDC), the Northeast
Energy Efficiency Partnership (NEEP),
and the Northwest Power and
Conservation Council (NPCC) submitted
a joint comment, referred to as ‘‘the
Joint Comment,’’ disagreeing with
DOE’s position in the March 2009
NOPR. (The Joint Comment, No. 19 at p.
1) Specifically, the Joint Comment
argued that DOE acknowledges that the
ASHRAE standards for several products
have been revised relative to earlier
versions. However, the Joint Comment
pointed out that DOE takes an
improperly constrained view of the
meaning of ‘‘amended,’’ arbitrarily
ruling out changes such as addition of
prescriptive requirements, changes in
metric and decreases in the standard.
The Joint Comment referred to its earlier
comments in response to the July 2008
NODA (i.e., the Advocacy Joint
Comment, No. 4) for additional detail
and asserted that any of these changes
fit within the meaning of ‘‘amended’’
and should be considered as changes
requiring DOE review. The Joint
Comment stated its belief that DOE has
applied an unlawfully narrow definition
to the word ‘‘amendment.’’ (The Joint
Comment, No. 19 at p. 1)
DOE continues to view the statute’s
trigger as tied to an increased energy
efficiency level for the affected
equipment type. As described in the
March 2007 final rule and the March
2009 NOPR, section 342 of EPCA
requires DOE to establish energy
conservation standards for the
commercial equipment contained in this
rulemaking at the minimum efficiency
level specified in any amended
ASHRAE standard unless more stringent
standards are supported by clear and
convincing evidence—in other words, to
maintain uniform national standards
consistent with those set in ASHRAE
Standard 90.1 unless more stringent
standards are justified. 72 FR 10042 and
74 FR 12006. Therefore, if ASHRAE has
not amended a standard for a product
subject to section 342, there is no
change that would require action by
DOE to consider amending the uniform
national standard to maintain
consistency with ASHRAE Standard
90.1. Id. If ASHRAE considered
amending the standards for a given
equipment type but ultimately chose not
to do so, the statutory requirement that
DOE adopt ASHRAE’s amended
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standards is not triggered with respect
to this equipment. Id. The statutory
language specifically links ASHRAE’s
action to amend efficiency levels for
specific equipment to DOE’s action
affecting the same equipment. Id. Given
this statutory scheme, DOE does not
agree with the Joint Comment’s
suggestion that amendment of the level
for any ASHRAE product opens up the
national standards for all ASHRAE
products to potential amendment.
C. DOE’s Review of ASHRAE Equipment
Independent of the ASHRAE Standards
Process
The Joint Comment asserted that the
routine review of efficiency standards
required by the Energy Independence
and Security Act of 2007 (EISA 2007),
Public Law 110–140, (i.e., section 305(b)
of EISA 2007) clearly intends to
establish a structure to review each DOE
standard for ASHRAE covered
equipment at least every six years. (The
Joint Comment, No. 19 at pp. 1–2) The
Joint Comment pointed out that several
ASHRAE standards were last reviewed
in 2001, including commercial water
heaters and commercial furnaces. In the
March 2009 NOPR, DOE maintained
that reviews are not due for products for
which the six-year clock has expired
prior to enactment of EISA 2007.
However, the commenters view such an
interpretation as sheltering these
products from further review by
ASHRAE on an indefinite basis.
According to the commenters, the intent
of EISA 2007 was to subject all
standards to regular reviews, not to
create a haphazard special class with a
potentially permanent exception from
periodic DOE review. The Joint
Comment took the position that DOE
can rectify this situation by initiating a
review of all ASHRAE standards that
have not been changed in more than six
years (e.g., commercial furnaces,
commercial water heaters). The Joint
Comment argued that DOE must do so
under the EISA 2007 provision. At a
minimum, the Joint Comment asserted
that DOE should conduct an initial
analysis to assess potential energy
savings from a full-fledged review of
product standards, which have not been
updated since the January 2001 final
rule (66 FR 3336). (The Joint Comment,
No. 19 at pp. 1–2)
In response, DOE acknowledges that
section 305(b) of EISA 2007 amended
section 342(a)(6) of EPCA by directing
DOE to assess whether there is a need
to update the Federal energy
conservation standards for certain
commercial equipment (i.e., ASHRAE
equipment) after a certain amount of
time has elapsed. The section states that
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the Secretary must publish either a
notice of determination that standards
for a product do not need to be
amended, or a notice of proposed
rulemaking including amended
proposed standards within 6 years after
the issuance of any final rule
establishing or amending a standard. (42
U.S.C. 6313(a)(6)(C)(i)) In addition, if
the Secretary chooses to publish a
notice of determination that the
standards for a product do not need to
be amended, a new determination must
be issued within 3 years of the previous
determination. (42 U.S.C.
6313(a)(6)(C)(iii)(II)) These requirements
are applicable to small commercial
package air conditioning and heating
equipment, large commercial package
air conditioning and heating equipment,
very large commercial package air
conditioning and heating equipment,
packaged terminal air conditioners,
packaged terminal heat pumps, warmair furnaces, packaged boilers, storage
water heaters, instantaneous water
heaters, and unfired hot water storage
tanks. (42 U.S.C. 6313(a)(6)(A)(i))
DOE believes that the commenters
have misconstrued the amendments in
section 305(b) of EISA 2007 by
suggesting that the relevant provisions
should be applied retroactively, rather
than prospectively. As stated
previously, 74 FR 12007, DOE does not
believe Congress intended to apply
these requirements retroactively, which
would cause DOE to be in immediate
violation of its legal obligations upon
passage of the statute, thereby failing
from its inception. DOE does not agree
with the assertion that DOE is late and
should initiate an immediate review of
certain commercial equipment cited by
the commenters above.
D. Combination Efficiency Level and
Design Requirements in ASHRAE
Standard 90.1–2007
For several classes of equipment,
ASHRAE added design requirements in
addition to the efficiency level
requirements in ASHRAE Standard
90.1. For example, ASHRAE did not
change the efficiency levels for oil-fired
commercial warm air furnaces, but
ASHRAE added three design
requirements. ASHRAE Standard 90.1–
2007 now specifies that commercial, oilfired, warm air furnaces must use an
interrupted or intermittent ignition
device, have jacket losses no greater
than 0.75 percent of the input rating,
and use a power vent or flue damper.5
DOE stated in the March 2009 NOPR
5 ‘‘Jacket losses’’ refer generally to the heat loss to
the surroundings from the furnace, excluding flue
losses.
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that the language of EPCA authorizes
DOE to establish a performance
standard or a single design standard for
certain types of commercial equipment,
including oil-fired furnaces. 74 FR
12008–09.
The Joint Comment argued that
rejecting multi-metric standards
reversed a prior position adopted by
DOE in the central air conditioner
rulemaking. (The Joint Comment, No. 19
at p. 2) The Joint Comment strongly
urged the new Administration to
reconsider this policy because multimetric standards are increasingly
important for capturing cost-effective
energy savings. It argued that ASHRAE
found that such standards made sense
for commercial furnaces and criticized
DOE for not considering the ASHRAE
changes. The Joint Comment stated that
energy use for many products can be
moderated through controls strategies,
which are often not represented in a
product’s test method. (The Joint
Comment, No. 19 at p. 2)
On that point, ASHRAE
recommended that DOE consider the
role of prescriptive requirements in the
setting of national efficiency levels for
commercial furnaces. (ASHRAE, No.
FDMS DRAFT 5.1 at p. 2) ASHRAE
commented that these prescriptive
requirements provide critical
characterizations of overall equipment
efficiency and total energy use.
According to ASHRAE, these
requirements are designed to work in
cooperation with the numerical
efficiency metric to achieve greater
levels of energy efficiency than possible
through the use of the numerical metric
alone. ASHRAE asserted that as it
continues to develop Standard 90.1 and
to decrease the total energy use
associated with that standard, such
additional prescriptive requirements
likely will become even more prevalent.
It argued that increasing the stringency
of Standard 90.1 will require greater
focus on systems as a whole and
consideration of all factors and
attributes that contribute to the energy
use associated with that system. In order
to achieve the maximum energy
efficiency envisioned by the standard,
ASHRAE strongly encouraged DOE to
reconsider its policy of not including
accompanying prescriptive
requirements in its energy conservation
analysis. (ASHRAE, No. FDMS DRAFT
5.1 at p. 2)
DOE notes that its response to this
issue is grounded in the requirements of
EPCA, not DOE policy, and that the
commenters offered no other plausible
alternative reading of this statutory
provision. In this rulemaking, DOE only
reviewed the combination efficiency
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level and design requirements for gasfired and oil-fired commercial warm air
furnaces because these were the only
equipment classes where DOE’s initial
review of the efficiency levels in
ASHRAE Standard 90.1–2007 for this
equipment revealed a perceived change
when compared to the Federal energy
conservation standards for this
equipment. As described in the March
2009 NOPR, DOE has determined that
the design requirements in ASHRAE
Standard 90.1–2007 for gas-fired and
oil-fired commercial warm air furnaces
are beyond the scope of its legal
authority. 74 FR 12008–10. More
specifically, the language of EPCA
authorizes DOE to establish ‘‘energy
conservation standards’’ that set either a
single performance standard or a single
design requirement—not both. See 42
U.S.C. 6311(18). As such, a standard
that establishes both a performance
standard and a design requirement is
beyond the scope of DOE’s legal
authority, as would be a standard that
included more than one design
requirement. In this case, ASHRAE
Standard 90.1–2007 recommends three
design requirements. Thus, if DOE were
to replace its existing, performancebased standard with a design
requirement, the statute would not
permit adoption of all three design
requirements in ASHRAE Standard
90.1–2007. Furthermore, such a change
would also necessitate an initial DOE
determination that the new requirement
would not result in backsliding when
compared to the current standards.
E. The Proposed Energy Conservation
Standards for Commercial Packaged
Boilers
In the March 2009 NOPR, DOE
proposed the efficiency levels in
ASHRAE Standard 90.1–2007 for the ten
classes of commercial packaged boilers.
74 FR 12002. DOE received four
comments in response to its proposal for
commercial packaged boilers.
Specifically, the Joint Comment stated
its support for DOE’s proposal on
commercial packaged boilers. (The Joint
Comment, No. 19 at p. 1) Burnham also
stated its support for DOE’s direction in
the NOPR and urged DOE to issue a
final rule as soon as possible. (Burnham,
Public Meeting Transcript, No. 12 at p.
96) AHRI stated that it agrees with
DOE’s direction in the NOPR and
pointed out that there is a ‘‘residual
value’’ in transitioning from the
combustion efficiency metric to the
thermal efficiency metric for
commercial packaged boilers. (AHRI,
Public Meeting Transcript, No. 12 at pp.
97–98) ASHRAE commended DOE for
its proposed handling of commercial
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packaged boilers in the March 2009
NOPR. ASHRAE pointed out consensus
agreements between manufacturers and
energy-efficiency advocates provide a
valuable means of improving energy
efficiency with necessary consideration
for technological and economic
feasibility, as DOE has acknowledged.
(ASHRAE, No. FDMS DRAFT 5.1 at p.
1)
Lastly, DOJ concluded that the
proposed standards for commercial
packaged boilers are not likely to have
an adverse effect on competition. (DOJ,
No. 15 at p. 2) In reaching this
conclusion, DOJ noted the absence of
any competitive concerns raised by
industry participants at the public
meeting. In addition, DOJ noted the
efficiency levels in the proposed
standards are based on a consensus
recommendation submitted to ASHRAE
by efficiency advocacy groups and the
trade association for manufacturers of
commercial packaged boilers. Based on
these facts, DOJ stated its belief that the
new standard would not likely reduce
competition. Id.
F. Commercial Electric Instantaneous
Water Heaters
SEISCO INTERNATIONAL (SEISCO)
commented that it has been (and would
continue to be) significantly adversely
affected by DOE’s decisions not to create
a product class for electric tankless
water heaters having an output rated
greater than 12 kilowatts, as well as to
exclude the advanced electric tankless
and electric resistance storage tank from
the ENERGY STAR program. (SEISCO,
No. 17 at p. 1) SEISCO’s comments
asserted that this type of equipment
would provide energy savings benefits
when compared to traditional storagetype water heaters. (SEISCO, No. 17 at
p. 8)
While DOE acknowledges SEISCO’s
concerns with regard to the product
classes for electric tankless water
heaters, these concerns are beyond the
scope of this rulemaking. Currently,
ASHRAE Standard 90.1 does not
include an efficiency level or a
prescriptive requirement for commercial
electric tankless water heaters. In order
for DOE to consider amendments,
ASHRAE must amend Standard 90.1 to
add test procedures and efficiency
levels for these equipment types. In
addition, DOE notes that it is not
addressing SEISCO’s concerns regarding
the ENERGY STAR program for electric
tankless and electric resistance storage
water heaters because it is not part of
the ASHRAE rulemaking process.
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IV. General Discussion of the Changes
in ASHRAE Standard 90.1–2007 and
Determination of Scope for Further
Rulemaking Analyses
As discussed above, before beginning
an analysis of economic impacts and
energy savings that would result from
adopting the efficiency levels specified
by ASHRAE Standard 90.1–2007 or
more-stringent efficiency levels, DOE
first sought to determine whether the
amended Standard 90.1 efficiency levels
represented an increase in efficiency
above the current Federal standard
levels. DOE discussed each equipment
class where these levels differ from the
current Federal standard level, along
with DOE’s preliminary conclusion as to
the action DOE would take with respect
to that equipment in the March 2009
NOPR. See 74 FR 12008–20. DOE
tentatively concluded from this analysis
that the only efficiency levels that
represented an increase in efficiency
above the current Federal standards
were those for certain classes of
commercial packaged boilers and water
cooled and evaporatively cooled
commercial package air conditioners
and heat pumps with a cooling capacity
at or above 240,000 Btu/h and less than
760,000 Btu/h. For a more detailed
discussion of this approach, readers
should refer to the preamble to the
March 2009 NOPR. See Id. DOE
received no additional comments on
this topic in response to the March 2009
NOPR, so DOE is using the same
approach in this final rule.
V. Methodology and Discussion of
Comments for Commercial Packaged
Boilers
This section provides a brief overview
of the analyses DOE has performed for
this rulemaking with respect to
commercial packaged boilers and the
comments received in response to the
March 2009 NOPR. A separate
subsection addresses each analysis and
its respective comments. DOE used a
spreadsheet to calculate the LCCs and
PBPs of potential amended energy
conservation standards. DOE used
another spreadsheet to provide
shipments forecasts and then calculate
national energy savings and net present
value impacts of potential amended
energy conservation standards.
This section also briefly describes the
amendments to the DOE test procedure
for commercial packaged boilers to
require testing in terms of thermal
efficiency, consistent with the amended
efficiency levels in ASHRAE Standard
90.1–2007. DOE described all of the test
procedure changes it is adopting in
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today’s final rule in the March 2009
NOPR. See 74 FR 12020–22.
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A. Test Procedures
Section 343(a) of EPCA (42 U.S.C.
6314(a)) requires the Secretary to amend
the test procedures for packaged boilers
to be the latest version generally
accepted by industry or the rating
procedures developed or recognized by
the Air-Conditioning and Refrigeration
Institute (ARI) 6 or by ASHRAE, as
referenced by ASHRAE/IESNA Standard
90.1, unless the Secretary determines by
clear and convincing evidence that the
latest version of the industry test
procedure: (1) Is not reasonably
designed to produce results reflecting
energy efficiency, energy use, and
estimated operating costs and (2) would
be unduly burdensome to conduct.
Additionally, if the procedure is one
used for determining estimated annual
operating costs, the procedure must
provide that the costs are calculated
from energy use measurements in a
representative average use cycle and
from representative average unit costs of
the energy needed to operate the
equipment during the cycle. (42 U.S.C.
6314(a)(4)(B) and 42 U.S.C. 6314(a)(3))
DOE published a final rule on October
21, 2004, that amended its test
procedure for commercial packaged
boilers to incorporate by reference the
industry test procedure for commercial
packaged boilers, the Hydronics
Institute (HI) division of the Gas
Appliance Manufacturer’s Association
(GAMA) Boiler Testing Standard BTS–
2000, ‘‘Method to Determine the
Efficiency of Commercial Space Heating
Boilers’’ (HI BTS–2000). 69 FR 61949.
This rulemaking responded to
ASHRAE’s action in ASHRAE Standard
90.1–1999 to revise the test procedures
for certain commercial equipment,
including commercial packaged boilers.
In 2007, AHRI made several changes
to BTS–2000 (Testing Standard for
Commercial Space Heating Boilers) and
reaffirmed the continued use of BTS–
2000 (Rev 06.07) as the recommended
testing standard. As noted in the NOPR,
DOE believes the revised BTS–2000
(Rev 06.07) is reasonably designed to
produce results reflecting energy
efficiency, energy use, and estimated
operating costs, and is not unduly
burdensome to conduct. 74 FR 12020.
Therefore, DOE is amending the
6 The Air-Conditioning and Refrigeration Institute
(ARI) and the Gas Appliance Manufacturers
Association (GAMA) announced on December 17,
2007, that their members voted to approve the
merger of the two trade associations to represent the
interests of cooling, heating, and commercial
refrigeration equipment manufacturers. The merged
association became AHRI on January 1, 2008.
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uniform test procedure for commercial
packaged boilers to incorporate by
reference HI BTS–2000 (Rev 06.07). In
addition, for the reasons described in
the NOPR, DOE is removing the
incorporation by reference of, and any
references to, the American Society of
Mechanical Engineers (ASME) Power
Test Codes for Steam Generating Units,
ASME PTC 4.1–1964, reaffirmed 1991
(including 1968 and 1969 addenda)
(ASME PTC 4.1) as an alternate test
method for rating the efficiency of steel
commercial packaged boilers.7 74 FR
12020. DOE is making this change
because this particular test method is no
longer an approved method of rating the
efficiency of steel commercial packaged
boilers under DOE’s regulations.
Eliminating the references to ASME PTC
4.1 in the CFR does not introduce any
changes to the test procedure for this
equipment; it simply removes obsolete
references. Manufacturers are required
to test all steel boilers using the method
that references the HI BTS–2000 test
procedure, as they have been since
October 23, 2006.
Currently, the uniform test method for
the measurement of energy efficiency of
commercial packaged boilers requires
that only the combustion efficiency be
tested and calculated in accordance
with the HI BTS–2000. 10 CFR
431.86(c)(1)(ii). In this final rule, DOE is
adopting as Federal energy conservation
standards several thermal efficiency
levels described in ASHRAE Standard
90.1–2007 that were proposed in the
NOPR. For this reason, DOE is
amending the definitions in 10 CFR
431.82 to incorporate the definition of
‘‘thermal efficiency’’ as written in
section 3.0 of the HI BTS–2000 (Rev
7 In the October 2004 test procedure final rule for
commercial packaged boilers, DOE also
incorporated by reference the American Society of
Mechanical Engineers (ASME) Power Test Codes for
Steam Generating Units, ASME PTC 4.1–1964,
reaffirmed 1991 (including 1968 and 1969 addenda)
(ASME PTC 4.1) as an alternate test method for
rating the efficiency of steel commercial packaged
boilers only. 69 FR 61956 (Oct. 21, 2004). DOE
provided ASME PTC 4.1, with modifications, as an
alternate test procedure for steel commercial
packaged boilers because many manufacturers of
steel boilers were unfamiliar with HI BTS–2000 and
its predecessor, HI–1989, and typically tested their
boilers using the ASME PTC 4.1 test procedure. Id.
at 61951. DOE designated a transition period for
manufacturers to convert from using the ASME PTC
4.1 test procedure to the HI BTS–2000 test
procedure. Id. This would allow manufacturers of
steel boilers an opportunity to become familiar with
HI BTS–2000 and ensure that their equipment
would be able to comply with EPCA standards
using that procedure. Id. at 61956. DOE stated that
it would allow the use of ASME PTC 4.1 as an
alternate test procedure for two years after the
publication of the October 2004 final rule. Id. The
transition period ended on October 23, 2006, and
now all commercial boilers are required to be tested
using the HI BTS–2000 test procedure. 10 CFR
431.86.
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06.07) test procedure and proposed in
the NOPR. 74 FR 12021. Thus, DOE is
adding the definition of ‘‘thermal
efficiency’’ to 10 CFR 431.82 to read as
follows: ‘‘Thermal efficiency for a
commercial packaged boiler is
determined using test procedures
prescribed under § 431.86 and is the
ratio of the heat absorbed by the water
or the water and steam to the higher
heating value in the fuel burned.’’
In addition to adding the definition of
‘‘thermal efficiency’’ to its regulations,
DOE is amending the definition of
‘‘combustion efficiency,’’ as proposed
and described in the NOPR, to remove
the language defining the term as ‘‘the
efficiency descriptor for packaged
boilers.’’ 74 FR 12021. Thus, DOE is
amending the definition of ‘‘combustion
efficiency’’ in 10 CFR 431.82 to read as
follows: ‘‘Combustion efficiency for a
commercial packaged boiler is
determined using the test procedures
prescribed under § 431.86 and equals
100 percent minus percent flue loss
(percent flue loss is based on input fuel
energy).’’
DOE is amending 10 CFR 431.86
(Uniform test method for measurement
of energy efficiency of commercial
packaged boilers) to include
requirements for the measurement and
rating of thermal efficiency for those
commercial packaged boiler equipment
classes where the thermal efficiency
metric is being used in today’s final
rule, after the effective date of this
rulemaking (i.e., March 2, 2012). DOE is
also amending 10 CFR 431.86 to specify
that combustion efficiency should be
measured and rated for the two
commercial packaged boiler equipment
classes where the combustion efficiency
metric is being used in today’s final rule
(i.e., large gas hot water and large oil hot
water commercial packaged boilers).
These changes are described in detail in
the NOPR and can be found in the
regulatory text at the end of this notice.
74 FR 12021, 12048–49. DOE did not
receive any comments in response to its
test procedure proposals in the NOPR;
thus, DOE is adopting them as
proposed. These test procedure changes
will become effective concurrently with
the amended standard levels being
adopted in today’s final rule.
DOE proposed several test procedure
updates responding to the changes made
to HI BTS–2000 (Rev 06.07), 74 FR
12021–22, and is now amending the test
procedure to adopt those changes,
which are described in detail in the
NOPR and are contained in the
regulatory text at the end of this notice.
See id. These changes do not introduce
any changes to the methods in the test
procedure. Manufacturers should use
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the revised version of the test procedure
(i.e., HI BTS–2000 (Rev 06.07)) to
represent their model’s energy
efficiency and compliance with the
current Federal energy conservation
standards effective September 21, 2009.
DOE is also adopting the proposed
amendments for 10 CFR
431.86(c)(2)(iii), ‘‘Test Measurements for
a Boiler Capable of Supplying Either
Steam or Water.’’ As explained in the
NOPR, DOE proposed to require
manufacturers of large dual output
commercial packaged boilers (i.e.,
boilers capable of producing both steam
and hot water) to test for both the
combustion and thermal efficiencies of
these boilers. DOE is requiring both the
combustion and thermal efficiency test
be conducted by manufacturers because
the ASHRAE-amended efficiency levels
for large dual output commercial
packaged boilers would require this
equipment to meet an efficiency level
using both metrics (i.e., combustion
efficiency for a large boiler operated in
hot water mode, and thermal efficiency
for operation in steam mode). 74 FR
12022. Consistent with this approach,
DOE is amending 10 CFR
431.86(c)(2)(iii) to require the testing
and measurement of both thermal and
combustion efficiency for any boiler
capable of producing steam and hot
water (i.e., a dual output boiler) that is
being tested only as a steam boiler for
equipment manufactured on and after
March 2, 2012. For equipment
manufactured prior to that date,
manufacturers will need to continue
testing only for the combustion
efficiency of dual output boilers.
Manufacturers could also choose to
perform both tests separately on large
dual output boilers, including the
combustion efficiency test in hot water
mode and the thermal efficiency test in
steam mode. Consequently, DOE is also
amending the test procedure to permit
manufacturers to test large dual output
boilers separately for combustion
efficiency in hot water mode and for
thermal efficiency in steam mode, as
proposed in the NOPR, if they choose to
do so. 74 FR 12022.
In addition, DOE is adopting
provisions in this final rule allowing
commercial packaged boilers capable of
supplying either steam or water (i.e.,
dual output boilers) to test in steam
mode only. In other words, DOE is
allowing manufacturers to test dual
output boilers only in steam mode,
although large dual output boiler
manufacturers must test for both
thermal and combustion efficiency. This
approach will ensure that a dual output
boiler is meeting the thermal efficiency
requirement when operated in steam
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mode and the combustion efficiency
requirement when operated in hot water
mode, because achieving compliance in
steam mode is generally more
challenging. Thus, a boiler that
complies with the standard in steam
mode would be presumed to meet the
standard in hot water mode. DOE
believes that giving manufacturers the
option of testing dual output
commercial packaged boilers only in
steam mode would suffice for
compliance purposes, and will avoid an
unnecessary burden on manufacturers
of dual output boilers.
The regulatory text following the
preamble to today’s notice contains the
changes made to the definitions,
reference materials, effective dates, and
the uniform test procedure for
commercial packaged boilers in 10 CFR
431.86.
B. Market Assessment
For the NOPR phase of DOE’s review
of the ASHRAE Standard 90.1–2007
efficiency levels, DOE developed a
market assessment that provides an
overall picture of the market for the
equipment concerned, including the
purpose of the equipment, the industry
structure, and market characteristics. 74
FR 12022–24. The subjects addressed in
the market assessment for this
rulemaking included equipment
definitions, equipment classes,
manufacturers, quantities, and types of
equipment sold and offered for sale. In
response to the March 2009 NOPR, DOE
did not receive any written or oral
comments pertaining to the market
assessment. Consequently, DOE did not
revise the market analysis that was
performed for the March 2009 NOPR.
DOE summarized the key findings. 74
FR 12022–24. For additional detail, see
chapter 2 of the final rule TSD.
C. Engineering Analysis
The engineering analysis establishes
the relationship between the cost and
efficiency of a piece of equipment DOE
is evaluating for potential amended
energy conservation standards. This
relationship serves as the basis for costbenefit calculations for individual
consumers and the Nation. The
engineering analysis identifies
representative baseline equipment,
which is the starting point for analyzing
the possible energy-efficiency
improvements. DOE typically structures
its engineering analysis around one of
three methodologies: (1) The designoption approach, which calculates the
incremental costs of adding specific
design options to a baseline model; (2)
the efficiency-level approach, which
calculates the relative costs of achieving
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increases in energy efficiency levels
without regard to the particular design
options used to achieve such increases;
and/or (3) the reverse-engineering or
cost-assessment approach, which
involves a ‘‘bottom-up’’ manufacturing
cost assessment based on a detailed bill
of materials derived from tear-downs of
the product being analyzed.
1. Approach and Assumptions
As explained in the March 2009
NOPR, DOE used an efficiency-level
approach to evaluate the cost of
commercial packaged boilers at the
baseline efficiency level, and those
above it. 74 FR 12024–27. DOE used the
efficiency level approach because of the
wide variety of designs available on the
market and because the efficiency level
approach does not examine a specific
design to reach each of the efficiency
levels. The efficiency levels that DOE
considered in the engineering analysis
were representative of commercial
packaged boilers currently being
produced by manufacturers at the time
the engineering analysis was developed.
DOE relied primarily on data collected
through discussions with mechanical
contractors or commercial boiler
equipment distributors to develop its
cost-efficiency relationship for
commercial packaged boilers. DOE
chose to collect contractor costs at three
representative capacities for each
‘‘small’’ equipment class (400, 800, and
1500 kBtu/h) and then normalize the
contractor costs by capacity to create a
single cost-efficiency curve with 800
kBtu/h as the representative capacity for
each equipment class, as described in
the NOPR. 74 FR 12024. For each
‘‘large’’ equipment class analyzed, DOE
used a similar approach, in which it
collected cost data and created a costefficiency curve for one representative
output capacity, 3,000 kBtu/h.
To extend the analysis to oil-fired
commercial packaged boilers, DOE
estimated that they are, on average, 3
percent more efficient than gas-fired
boilers of identical construction because
of the similar design characteristics.
Also, since the construction of oil-fired
and gas-fired boilers is basically the
same, with the exception of some
differences in controls, DOE assumed
the incremental cost for increasing the
efficiency of both types of boilers would
be the same. The difference in the cost
of controls would make no difference in
the incremental cost of equipment
because the same additional cost for
controls would be applied across the
range of oil-fired commercial boiler
efficiencies. Once the cost-efficiency
curves were normalized, the cost of the
controls was subtracted. For these
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reasons, DOE estimated the incremental
cost-efficiency curves for oil-fired
equipment by shifting the costefficiency curves for each gas-fired
equipment class by 3 percent.
In addition, DOE analyzed dual
output boilers by classifying them as
‘‘steam only’’ boilers and assuming
efficiency ratings for dual output boilers
were representative of the efficiency of
the boiler tested in ‘‘steam mode.’’ DOE
assumed that the efficiency ratings for
dual output boilers were representative
of the efficiency of the boiler when
tested in steam-only mode because the
current procedure instructs
manufacturers to test boilers capable of
producing both steam and hot water
either only in steam mode or in both
steam mode and hot water mode. 10
CFR 431.86(c)(2)(iii)(A). Further, the test
procedure states that if a manufacturer
chooses to test a boiler in both steam
mode and hot water mode, the boiler
must be rated for efficiency in each
mode as two separate listings in the
I=B=R Directory. 10 CFR
431.86(c)(2)(iii)(B). 74 FR 12026–27.
This approach had the effect of
analyzing the most energy-intensive
mode of dual output boilers.
DOE only received one comment in
response to the engineering analysis
presentation described in the March
2009 NOPR. ACEEE stated that it would
like DOE to review its estimates of
increased cost versus the historical
record. (ACEEE, Public Meeting
Transcript, No. 12 at p. 47) ACEEE
stated that DOE is using a methodology
asserted to be true without an effort to
verify it, which is unfair to the entire
community, including manufacturers.
DOE does not find merit to ACEEE’s
claims that the price change of meeting
an amended standard declines after the
standards’ adoption. DOE recognizes
that every change in minimum energy
conservation standards is an
opportunity for manufacturers to make
investments beyond what would be
required to meet the new standards in
order to minimize the costs or to
respond to other factors. DOE’s
manufacturing cost estimates seek to
gauge the most likely industry response
to the proposed energy conservation
standards. DOE’s analysis of responses
must be based on currently available
technology that will be nonproprietary
when a rulemaking becomes effective,
and thus cannot speculate on future
product and market innovation.
DOE did not receive any other
comments suggesting revisions to its
approach to the engineering analysis or
to the assumptions included in the
engineering analysis in response to the
March 2009 NOPR. Therefore, DOE did
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not revise its engineering analysis.
Chapter 3 of the final rule TSD provides
further detail on the methods used for
the engineering analysis.
2. Results
The result of the engineering analysis
is a set of cost-efficiency curves.
Creating the cost-efficiency curves
involved three steps: (1) Plotting the
contractor cost versus efficiency; (2)
aggregating the cost data by
manufacturer; and (3) using an
exponential regression analysis to fit a
curve that best defines the aggregated
data. DOE correlated the contractor cost
as a function of each commercial
packaged boiler’s rated efficiency. DOE
also normalized the data by adjusting
the costs of every manufacturer’s
equipment so that the cost of its
equipment was zero at the baseline
ASHRAE Standard 90.1–2007 efficiency
levels. This was done to show the
average incremental cost of increasing
efficiency above the ASHRAE Standard
90.1–2007 levels for each equipment
class. DOE only presents the
incremental costs of increasing the
efficiency of a commercial packaged
boiler in the final rule TSD to avoid the
possibility of revealing sensitive
information about individual
manufacturers’ equipment. While most
manufacturers publish the rated thermal
and/or combustion efficiencies of their
commercial packaged boilers according
to AHRI specifications, some do not and
different manufacturers might have
substantially different absolute costs for
their equipment at the same efficiency
level due to design modifications and
manufacturing practices.
The cost-efficiency curves do not
represent any single manufacturer, and
they do not describe any variance
among manufacturers. The curves
simply represent, on average, the
industry’s cost to increase equipment
efficiency. For this analysis, several
types of boiler construction are
aggregated into single equipment
classes, and the cost-efficiency curves
represent only an average boiler and not
any individual boiler with any specific
design characteristics. DOE attempted in
its analysis to determine what the
average cost-efficiency relationship
would look like across the range of
boiler types included in each equipment
class. The results show that the costefficiency relationships for each of the
ten equipment classes are nonlinear. As
efficiency increases, manufacturing
becomes more difficult and more costly
for manufacturers to meet higher
efficiency levels. Chapter 3 of the final
rule TSD provides additional
information about the engineering
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36325
analysis, as well as the complete set of
cost-efficiency results.
D. Markups To Determine Equipment
Price
DOE understands that the price of
commercial boilers depends on the
distribution channel the customer uses
to purchase the equipment. In the
March 2009 NOPR, DOE explained how
it developed the distribution channel
markups for commercial packaged
boilers. 74 FR 12027–28. DOE did not
receive comments on the distribution
channel markups or on their
development in response to the March
2009 NOPR. Consequently, DOE used
the same distribution channels and
methodology to calculate markups for
the final rule analysis as was used in the
March 2009 NOPR.
Because DOE had developed costs for
mechanical contractors directly in the
engineering analysis, DOE estimated
customer costs using a markup chain
beginning with the mechanical
contractor cost. DOE did not develop an
estimate for manufacturer selling prices
in the engineering analysis and
consequently, did not develop an
estimate of markups for national
account distribution channels with sales
directly from manufacturers to
customers. DOE estimated most sales of
commercial packaged boilers involved
mechanical contractors because of
installation complexity and the
relatively few shipments made to
mercantile/retail building types where
national accounts are more common.
Consequently, it was unnecessary to
develop separate markups for costs
through a national account distribution
chain or directly from wholesalers.
DOE developed distributional channel
markups in the form of multipliers that
represent increases above the
mechanical contractor cost. DOE
applied these markups (or multipliers)
to the mechanical contractor costs it
developed from the engineering
analysis. Sales taxes and installation
costs were added to arrive at the final
installed equipment prices for baseline
and higher-efficiency equipment. DOE
used two distribution channels for
commercial boilers to describe how the
equipment passes from the mechanical
contractor to the customer (Table V.1).
All sales for replacement applications
are assumed to flow through channel 1.
The analysis assumes that sales for New
Construction flow through channel 2
depicted below.
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TABLE V.1—DISTRIBUTION CHANNELS how it developed the energy use
FOR COMMERCIAL PACKAGED BOIL- analysis for commercial packaged
boilers. 74 FR 12028–29. This analysis
ER EQUIPMENT
Channel 1
(replacements)
Mechanical Contractor.
Customer ...................
Channel 2
(new construction)
Mechanical Contractor.
General Contractor.
Customer.
DOE estimated shipment weights of
approximately 33% for new
construction and 67% for the
replacement markets based on data
developed for the shipments model and
based on growth in new construction
and replacement equipment in the
existing stock. DOE received no
comment on the new construction and
replacement shipment fractions and did
not modify these values for the final
rule.
For each step in the distribution
channels presented above, DOE
estimated a baseline markup and an
incremental markup. Both baseline and
incremental markups depend only on
the particular distribution channel and
are independent of the boiler efficiency
levels. DOE based the mechanical
contractor markups on data from the Air
Conditioning Contractors of America
(ACCA) 8 and on the 2002 U.S. Census
Bureau financial data 9 for the
plumbing, heating, and air conditioning
industry. DOE derived the general
contractor markups from U.S. Census
Bureau financial data for the
commercial and institutional building
construction sector.
The overall markup is the product of
all the markups (baseline or
incremental) for the different steps
within a distribution channel plus sales
tax. DOE calculated sales taxes based on
2008 State-by-State sales tax data
reported by the Sales Tax
Clearinghouse. Because both contractor
costs and sales tax vary by State, DOE
developed distributions of markups
within each distribution channel by
State. Chapter 5 of the final rule TSD
provides additional detail on markups.
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E. Energy Use Characterization
DOE used the building energy use
characterization analysis to assess the
energy savings potential of commercial
boilers at different efficiency levels. In
the March 2009 NOPR, DOE explained
8 Air Conditioning Contractors of America.
Financial Analysis for the HVACR Contracting
Industry, 2005. Available at: https://www.acca.org.
9 The 2002 U.S. Census Bureau financial data for
the plumbing, heating, and air conditioning
industry is the latest version data set and was
issued in December 2004. Available at: https://
www.census.gov/prod/ec02/ec0223i236220.pdf.
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estimates the energy use of commercial
boilers at specified efficiency levels by
using previously calculated Full Load
Equivalent Operating Hour (FLEOH)
metrics by building type and by climate
across the United States. FLEOHs are
effectively the number of hours that a
system would have to run at full
capacity to serve a total load equal to
the annual load on the equipment.
Boiler FLEOHs are calculated as the
annual heating load divided by the
equipment capacity. The FLEOH values
used for the boiler analysis were based
on simulations documented for the
‘‘Screening Analysis for EPACT-Covered
Commercial [Heating, Ventilating and
Air-Conditioning] HVAC and WaterHeating Equipment’’ 10 (hereafter, 2000
Screening Analysis). (66 FR 3336 (Jan.
12, 2001)) and incorporated seven
different building types and 11 different
U.S. climates. DOE received no
comments on the FLEOH assumptions
forming the basis of the energy use
characterization.
For each equipment class, DOE
estimated the energy use of a given
piece of equipment by multiplying the
characteristic equipment output
capacity by the FLEOH appropriate to
each combination of representative
building type and climate location. The
product is effectively the total annual
heat output from the boiler. The input
energy is then determined by dividing
the annual heat output by the thermal
efficiency of the equipment at each
efficiency level. The thermal efficiency
is used here for all equipment classes
since it defines the relationship between
energy input and useful output of a
commercial packaged boiler. For the
two classes where a thermal efficiency
metric was not specified by ASHRAE
Standard 90.1–2007, an estimate of the
thermal efficiency of equipment just
meeting the combustion efficiency
requirements specified by ASHRAE
Standard 90.1–2007 was developed
based on DOE’s market analysis. DOE
adjusted the unit energy use for each
boiler to reflect the equipment thermal
efficiency level DOE considered.
For condensing hot water boilers,
DOE recognized that the thermal
efficiency of a commercial packaged
boiler in actual use depends on the
return water conditions. In turn, the
return water conditions are dependent
Department of Energy, Office of Energy
Efficiency and Renewable Energy, ‘‘Energy
Conservation Program for Consumer Products:
Screening Analysis for EPACT-Covered Commercial
HVAC and Water-Heating Equipment Screening
Analysis’’ (April 2000).
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upon the hydronic system design and
control.11 For DOE’s analysis, the rated
thermal efficiencies for fully condensing
equipment were further adjusted to
reflect return-water conditions based on
installation in existing buildings with
conventional hydronic heating coils.
DOE’s estimates allow for the supply
water temperature to reset sufficiently to
meet the estimated heating coil loads
throughout the year.
DOE received several specific
comments on the energy use analysis
with regard to the development and use
of seasonal efficiencies for condensing
boilers. During the public meeting,
ACEEE commented that it was
concerned that the most typical
application, particularly in the
replacement market, for a commercial
packaged boiler is providing hydronic
heat, not supplemental heat in a
variable air volume (VAV) system.
ACEEE asserted that the supply
temperature modulation is highly
applicable as long as the user maintains
the necessary return temperature.
(ACEEE, Public Meeting Transcript, No.
12 at p. 58) ACEEE further commented
that the discussion and treatment of
supply temperature reset controls,
which influence the seasonal efficiency
parallels discussions used in the
negotiated consensus agreement for
residential boilers that DOE rejected.
(ACEEE, Public Meeting Transcript, No.
12 at p. 61)
In response to the comments from
ACEEE, DOE notes that the actual
calculations for the development of the
seasonal efficiency, as outlined in the
TSD, assume a hydronic heating load
that is a function of outdoor
temperature, the calculations were also
not reflective of a VAV-type reheat
application. DOE’s estimate of the
average thermal efficiency impact for
condensing boilers reflects the loadweighted thermal efficiency for a system
serving hydronic air-heating coils in
that type of space heating application.
This is discussed in chapter 4 of the
final rule TSD.
EarthJustice asked a clarifying
question regarding the magnitude of the
impact that reset temperature controls
had on efficiency, suggesting it was
roughly 3 percent for condensing boilers
and less than 1 percent for non
condensing boilers. (EarthJustice, Public
Meeting Transcript, No. 12 at p. 60).
11 A hydronic system is the distribution system
for hot or cold water in a closed loop throughout
a building or other type of space for the purposes
of heating or cooling. The description of such a
system would include the piping, the heating and
cooling coils, and radiators, as well as the controls
used to operate the system.
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In response to the comment from
EarthJustice, DOE generally agrees that
this is a correct interpretation. Literature
on the impact of supply water
temperature reset (i.e., resetting the
supply water temperature from the
boiler in response to building heating
load or a suitable other sensed condition
like outdoor temperature serving as a
proxy for load) on boiler efficiency
generally shows that for return water
temperatures from 140 °F to 180 °F (i.e.,
above the temperatures required for
condensing), the change in boiler
efficiency is typically less than 1
percent, with the actual value
dependent upon the fraction of full load
input, whether the boiler is a
condensing boiler or not. For
condensing boilers, which can operate
at lower return temperatures, reducing
the return water temperature below
140 °F results in significant increases in
the boiler’s thermal efficiency, with the
magnitude of the impact being a
function of the fraction of full load
input at these temperatures. Very low
return water temperatures (e.g., 60 °F)
can result in thermal efficiencies of 99%
in some condensing boiler equipment
designs, but few hydronic systems have
such low return water temperatures. In
a primarily space-heating application
(as opposed to a VAV reheat
application), where hot water supply
temperature reset is used, both the
temperature of water delivered by the
boiler and the thermal load met by the
boiler both increase with colder outside
temperatures. During the period when
the majority of the load is met, the
boiler is operating closer to its design
delivery point (i.e., at a higher
temperature). DOE’s calculation of
seasonal efficiency reflected the boiler’s
operating conditions.
In responding to ACEEE’s point on
the joint proposal regarding prescriptive
requirements for resetting the water
supply temperature for residential
boilers, DOE notes that there are many
benefits to the application of supply
water reset controls on commercial
boilers as well. However, many of these
benefits impact reduction in the total
heating load served by the boiler
(through reduction of losses in the
distribution system, simultaneous
heating and cooling in the building
HVAC hydronic and supply air reheat
systems) rather than a change in the
boiler efficiency. Other benefits from
supply water reset controls include
reducing both cycling losses in nonmodulating boilers and, to a lesser
extent, shell and standby losses, which
would accrue to both condensing and
non-condensing boilers similarly, but
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are most significant at low load
conditions.
Burnham asked whether the
simulations used in the analysis
included supply temperature reset in
condensing boilers and did not include
supply temperature reset for noncondensing boilers. (Burnham, Public
Meeting Transcript, No. 12 at p. 63)
Burnham also wanted to know if these
simulations included distribution
losses. Id. DOE clarified at the public
meeting that the original FLEOH
simulation analysis did not directly
account for the impact of supply
temperature reset on boiler efficiency.
DOE further clarifies here that hydronic
system distribution losses were not part
of the original building simulations
used to develop the FLEOH metrics, but
that the FLEOH development did
include estimates of heat used internally
in the boiler to offset standby loss
impacts. As with residential boilers,
DOE recognizes that there are significant
benefits to hot water supply temperature
reset in buildings. However, DOE does
not have authority to mandate supply
temperature reset controls as part of a
federal efficiency standard.
Commenting on the discussion on the
impact of water temperature reset, AHRI
stated that they were in the process of
developing rules for commercial boiler
manufacturers to provide additional
information on how boiler models will
operate at different inlet water
temperatures. AHRI indicated that the
professional designers of commercial
hydronic systems want that type of
information because there may be a
broad range of ‘‘design conditions’’
depending on commercial application.
AHRI commented that they have an
internal group working on this issue
within the certification program to help
ensure certification to the federal
requirements and uniformity between
other information [regarding
performance at varying conditions]
manufacturers provide to their
customers. (AHRI, Public Meeting
Transcript, No. 12 at pp. 61–63)
DOE estimated the national energy
impacts of higher efficiency equipment
by: (1) Mapping climate locations onto
regions; and (2) estimating the fraction
of each year’s national equipment
shipments (by product category) within
market segments, as defined by a
representative building type within a
particular region of the United States.
Seven representative building types
were used, including: Assembly,
Education, Food Service, Lodging,
Office, Retail, and Warehouse buildings.
The estimated allocation of national
boiler shipments to market segments
was based on information from the 2003
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Commercial Buildings Energy
Consumption Survey (CBECS) 12 and the
relative fraction of respondents
reporting the use of boilers in
commercial building floor space within
each market segment.
DOE developed the annual energy
consumption estimates for commercial
boilers for each of seven key commercial
building types in 11 geographic regions
and at each efficiency level. Chapter 4
of the final rule TSD provides additional
details on the energy use
characterization analysis.
F. Life-Cycle Cost and Payback Period
Analyses
DOE conducted the LCC and PBP
analyses to estimate the economic
impacts of potential standards on
individual customers of commercial
packaged boilers. In the March 2009
NOPR, DOE explained the development
of these analyses for commercial
packaged boilers. 74 FR 12029–32 DOE
used the same spreadsheet models to
evaluate the LCC and PBP for the final
rule as it used for the NOPR; however,
DOE updated certain specific inputs to
the models. Details of the spreadsheet
model and of all the inputs to the LCC
and PBP analyses are in chapter 5 of the
final rule TSD. DOE conducted the LCC
and PBP analyses using a spreadsheet
model developed in Microsoft Excel for
Windows 2003.
The LCC is the sum of the total
installed cost (taking into account
contractor cost, sales taxes, distribution
chain markups, and installation cost)
and operating expenses (energy, repair,
and maintenance costs) over the
equipment lifetime, with all costs
discounted back to the purchase date.
Because DOE is considering both the
efficiency levels in ASHRAE Standard
90.1–2007 and more-stringent efficiency
levels, the date on which an amended
energy conservation standard would
become effective depends on the
efficiency level ultimately adopted. To
fairly compare the LCC and PBP for both
the ASHRAE Standard 90.1–2007 levels
and higher efficiency levels, DOE
presumed that the purchase year for the
LCC calculation is 2014, the earliest
year in which DOE can establish an
amended energy conservation level at
an efficiency level more stringent than
the ASHRAE Standard 90.1–2007
efficiency level. For each efficiency
level analyzed, the LCC analysis
required input data for the total
installed cost of the equipment, the
operating costs, including energy, repair
12 Energy Information Administration (2003).
Available at: https://www.eia.doe.gov/emeu/cbecs/
contents.html.
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and maintenance costs, and the
discount rate. To compute each LCC,
DOE discounted all future operating
costs to the time of purchase and
summed them over the lifetime of the
equipment.
The PBP estimates the amount of time
it would take the customer to recover
the incremental increase in the purchase
price of more-efficient equipment
through lower operating costs. The PBP
is the change in purchase price divided
by the change in annual operating cost
that results from the standard. DOE
expresses this period in years. However,
unlike the LCC, which uses a stream of
operating expenses, including energy
expenses, the PBP is defined using a
single year’s annual expenses. By
convention, DOE uses the first year’s
operating expenses in the PBP
calculation.
Recognizing that each business that
uses commercial packaged boiler
equipment is unique, DOE analyzed
variability and uncertainty by
performing the LCC and PBP
calculations assuming a one-to-one
correspondence between business types
and market segments (characterized as
building types) for customers located in
seven types of commercial buildings.
DOE developed discount rates
appropriate for the customers in each
building type and used the estimated
annual energy use for each commercial
packaged boiler unit described in
section V.E. Because energy use of
commercial packaged boilers is
sensitive to climate and building usage,
DOE’s analysis included variation by
State and building type. Aside from
energy use, other important factors
influencing the LCC and PBP analyses
are energy prices, installation costs,
equipment distribution markups, and
sales tax. DOE used weighting factors
representing fractional boiler sales by
state and building type to generate
national average LCC savings and PBP
for each efficiency level.
DOE conducted the LCC and PBP
analyses using a commercially-available
spreadsheet model. This spreadsheet
accounts for variability in energy use,
installation costs, maintenance costs
and energy costs, and uses weighting
factors for shipments to different
building types and to States to generate
national LCC savings and PBP statistics
by efficiency level. The results of DOE’s
LCC and PBP analyses are summarized
in section VI and described in detail in
chapter 5 of the final rule TSD.
Table V.2 summarizes the inputs and
key assumptions DOE used in the LCC
and PBP analysis and shows how DOE
modified these inputs and key
assumptions for the final rule. The
changes in the input data and the
discussion of the overall approach to the
LCC analysis are provided in more
detail in chapter 5 of the final rule TSD.
TABLE V.2—SUMMARY OF INPUTS AND KEY ASSUMPTIONS USED IN THE LCC AND PBP ANALYSES
Inputs
NOPR description
Changes for final rule
Affecting Installed Costs
Equipment Price ...................
Installation Cost ...................
Equipment price was derived by multiplying contractor
cost (from the engineering analysis) by mechanical
and general contractor markups as needed plus
sales tax from the markups analysis.
Installation cost includes installation labor, installer
overhead, and any miscellaneous materials and
parts, derived from RS Means CostWorks 2007.13
DOE added additional costs to reflect the installation
of near condensing and condensing boilers at efficiency levels more stringent than ASHRAE Standard
90.1–2007 efficiency levels. These costs include control modifications, stainless steel flues, and condensate pumps and piping to remove condensate.
None.
Modified installation costs to reduce incremental control
costs charged at condensing equipment levels. Also
removed costs for condensate pump below condensing levels, but retained condensate drain costs
for near condensing levels (where corrosion resistant
flues are required).
Affecting Operating Costs
Annual Energy Use ..............
Fuel Prices ...........................
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Maintenance Cost ................
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DOE derived annual energy use using FLEOH data for
commercial boilers combined with thermal efficiency
estimates for each boiler efficiency level analyzed.
DOE did not incorporate differences in annual electricity use by efficiency level. DOE used State-byState weighting factors to estimate the national energy consumption by efficiency level.
DOE developed average commercial natural gas and
fuel oil prices for each State using EIA’s State Energy Database Data for 2006 for natural gas and oil
price data.14 DOE used AEO2008 energy price forecasts to project oil and natural gas prices into the future.
DOE estimated annual maintenance costs for commercial boilers based on MARS 8 Facility Cost Forecast
System Database 15 for commercial boilers. Annual
maintenance cost did not vary as a function of efficiency.
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None.
Updated State Energy Database Data for natural gas
and fuel oil prices to 2007 data (most recent available). Used AEO2009 energy price forecasts (April
2009 Reference Case incorporating AARA).
None.
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36329
TABLE V.2—SUMMARY OF INPUTS AND KEY ASSUMPTIONS USED IN THE LCC AND PBP ANALYSES—Continued
Inputs
NOPR description
Changes for final rule
Repair Cost ..........................
DOE estimated the annualized repair cost for baseline
efficiency commercial boilers based on cost data
from MARS 8 Facility Cost Forecast System Database for commercial boilers. DOE assumed that repair costs would vary in direct proportion with the
MSP at higher efficiency levels because it generally
costs more to replace components that are more efficient.
None.
Affecting Present Value of Annual Operating Cost Savings
Equipment Lifetime ..............
Discount Rate ......................
Analysis Start Year ..............
DOE estimated equipment lifetime assuming a 30-year
lifespan for all commercial boilers based on data
published by ASHRAE.
Mean real discount rates for all buildings range from
2.3 percent for education buildings to 5.9 percent for
retail building owners.
Start year for LCC is 2014, which is four years after the
publication of the final rule for amended energy conservation standards higher than ASHRAE.
None.
None.
None.
Analyzed Efficiency Levels
Analyzed Efficiency Levels ..
DOE analyzed the baseline efficiency levels (ASHRAE
Standard 90.1–2007) and up to four higher efficiency
levels for all ten equipment classes. See the engineering analysis for additional details.
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In response to the methodology
presented in the March 2009 NOPR,
DOE received comments on the
installation cost assumptions used in
the LCC analysis. Regarding the
installation costs assumptions, ACEEE
asked whether DOE assumed that
commercial customers did not replace
the control package for the lowest
efficiency boilers with one specific to
that boiler. ACEEE further stated since
one-third of the commercial packaged
boiler shipments went to new
construction, it would seem that these
boilers would have to be installed with
a controls package. In addition, ACEEE
asked whether the costs of controls
should exist for a replacement market
given the fraction of boilers that would
be shipped there even without controls.
ACEEE questioned an assumption that
there are no control costs for the lowestefficiency boilers. (ACEEE, Public
Meeting Transcript, No. 12 at p. 72)
13 RS Means CostWorks 2007, R.S. Means
Company, Inc. 2007. Kingston, Massachusetts
(2007). Available at: https://
www.meanscostworks.com/.
14 Natural Gas Price and Expenditure Estimates by
Sector, EIA, 2007. Available at: https://
www.eia.doe.gov/emeu/states/sep_fuel/html/
fuel_pr_ng.html. 2007 Distillate Fuel Price and
Expenditure Estimates by Sector, EIA, 2007.
Available at: https://www.eia.doe.gov/emeu/states/
hf.jsp?incfile=sep_fuel/html/fuel_pr_df.html.
15 MARS 8 Facility Cost Forecast System
Database, Whitestone Research, 2008. Washington,
DC. Available at: https://
www.whitestoneresearch.com/mars/index.htm.
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None.
DOE responded to ACEEE at the
public meeting that it did not
necessarily assume explicitly that there
were no controls shipped with the
boiler, but that the analysis did include
a differential control cost for the higherefficiency boilers.
AHRI commented that they were not
aware of any data to indicate what the
differences in control costs might be for
higher efficiency boilers, but
commented that there probably is going
to be some type of control to monitor
and signal the boiler that it is getting rid
of the condensate and that this would be
a control you wouldn’t have otherwise.
(AHRI, Public Meeting Transcript, No.
12 at pp. 73–74) AHRI also asked if DOE
included any factor to account for
possible requirements to treat the boiler
condensate.
For the final rule analysis, DOE
reviewed and modified the assumptions
for control costs resulting in a reduction
in the control cost differential for the
condensing boiler to $250. In addition,
DOE reviewed the assumptions for costs
of condensate pumps generally. For the
March 2009 NOPR, condensate pumps
were incorporated for both condensing
and near condensing boiler efficiency
levels. Review of data on options for
boiler installations indicated that
condensate pumps would be common
for many fully condensing boilers where
condensate is generated in the boiler
itself, but other means could be
incorporated to help alleviate
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condensation directly in the flue that
occurs with near condensing efficiency
levels. DOE included the cost for
condensate drainage for all near
condensing and condensing efficiency
levels (levels for which a corrosion
resistant flue was also incorporated).
With regard to the possible costs for
condensate treatment, DOE is aware that
some jurisdictions may have
requirements for condensate treatment
and that there are commercial products
designed to provide this treatment, but
did not have sufficient information on
the extent that such requirements exist
across the U.S. to estimate typical
installation costs and ongoing
maintenance costs for such treatment.
Consequently, DOE did not adjust the
maintenance (or repair) costs from those
used in the March 2009 NOPR. DOE
acknowledges that to the extent that
condensate treatment is required, these
would be an additional installation and
maintenance cost for the condensing
efficiency levels.
Other modifications made to the LCC
analysis were to update the fuel prices
and fuel price forecast data. Fuel prices
are needed to convert the gas or oil
energy savings from higher-efficiency
equipment into energy cost savings.
Because of the variation in annual fuel
consumption savings and equipment
costs across the country, it is important
to consider regional differences in
electricity prices. DOE updated the
average commercial natural gas and
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commercial fuel oil prices at the State
level using the latest available Energy
Information Administration (EIA) data
(2007). These data were converted to
2008$ using a Gross Domestic Product
(GDP) price inflator. The effective 2007
prices (in 2008$) range from
approximately $7.71 per million Btu to
approximately $27.96 per million Btu
for natural gas, and from approximately
$15.21 per million Btu to approximately
$18.04 per million Btu for commercial
fuel oil. To account for variation in fuel
costs occurring in different kinds of
businesses, DOE followed the same
procedure used in the NOPR to adjust
the state average fuel price to businesstype specific fuel prices, which was to
use the ratio of the average fuel costs for
that business type to the commercial
sectors as a whole, as provided in EIA’s
2003 CBECS 16 data set.
DOE also updated the fuel price
forecast data to use the most recent EIA/
AEO forecasts. EIA updated the AEO
forecasts in April 2009 to reflect the
provisions of the American Recovery
and Reinvestment Act (ARRA) enacted
in mid-February 2009. The reference
case in the recently published
AEO2009, which reflected laws and
regulations in effect as of November
2008, does not include ARRA. The need
to develop an updated reference case
following the passage of ARRA also
provided the EIA with an opportunity to
update the macroeconomic outlook for
the United States and global economies,
which have been changing at an
unusually rapid rate in recent months.
A very significant spike in oil prices
in 2008, in conjunction with a change
in assumptions in the April AEO2009
reference case meant it was not possible
to use both the 2007 state oil cost data
and the future oil fuel price index to
directly generate future national
commercial average fuel-oil prices that
reasonably match those in the AEO2009
forecast. To provide a more closely
matched estimate, DOE applied an
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16 EIA’s Commercial Buildings Energy
Consumption Survey, Energy Information Agency.
Public use microdata available at: https://
www.eia.doe.gov/emeu/cbecs/cbecs2003/
public_use_2003/cbecs_pudata2003.html.
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adjustment factor to the fuel prices to
both starting point gas and oil prices
such that the national average
commercial prices from 2012–2030
would match the AEO forecasts in
constant years dollars, but retain the
state-by-state variation reflected in state
pricing data. As was done for the NOPR,
DOE extrapolated the trend in fuel
prices between 2020 and 2030 of the
forecast to establish prices for the years
from 2031 to 2042 for the LCC analysis.
See chapter 5 of the final rule TSD for
further details on the LCC and PBP
analysis and assumptions.
G. Shipments Analysis
The shipments analysis develops
future shipments for each class of
commercial packaged boiler based on
current shipments and equipment life
assumptions, and takes into account the
existing stock and expected growth of
buildings using commercial packaged
boilers. DOE assumed the relative
distribution of shipments by size and
boiler equipment class would resemble
that of current shipments. In the March
2009 NOPR, DOE explained the
development of the shipment analysis
for commercial packaged boilers 74 FR
12033.
DOE received several comments on
the assumptions used in the shipments
analysis for the NOPR. On the
distribution of equipment lifetimes,
AHRI commented that in some regions
of the country, emissions regulations
may promote early replacements of
boilers, but did not provide data on the
frequency that this may occur or the
impact that this may have on the
distribution for boiler lifetimes. (AHRI,
Public Meeting Transcript, No. 12 at p.
86) ACEEE commented that there is a
trend toward replacements of larger
boilers with trains of smaller boilers, but
admitted to not having quantitative
numbers to describe the trend. (ACEEE,
Public Meeting Transcript, No. 12 at p.
80) ACEEE also commented that boilers
are rated on input capacity, but since
the relationship between input and
output capacity changes with
efficiencies, for a fixed output, the input
capacities required for the market will
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have a downward trend based on a
change in efficiency considered alone.
In addition, ACEEE asserted that
reductions in the degree of historical
[unnecessary] oversizing might be
reduced in the future, which would
further result in a reduction in typical
boiler size. (ACEEE, Public Meeting
Transcript, No. 12 at p. 81)
In responding to ACEEE at the public
meeting, AHRI agreed that in fact there
are replacement situations where the
use of trains of modular or stage boilers
makes sense today. AHRI also pointed
out that a target of ASHRAE 90.1 has
been to achieve better sizing and better
system design as part of the overall goal
to reduce energy consumption in
commercial buildings. AHRI did not
have an idea of how much effect these
replacement situations would really
have on shipments. (AHRI, Public
Meeting Transcript, No. 12 at p. 83)
In response to ACEEE regarding the
natural reduction in input capacity as a
function of higher efficiency equipment,
DOE notes that the shipments model
starting point, as well as the output of
the model, is the number of boilers
shipped, not the total input capacity of
all shipments. Furthermore, the cost
calculations developed in the
engineering analysis and subsequently
used in the analysis are based on the
output capacity of the boiler. The sum
total of output capacity and shipments
is not affected by the change in
efficiency brought about by standards.
With regard to the other comments,
given the lack of sufficient quantitative
data on the impact that these trends may
have on shipments by equipment size or
class that would be needed to calibrate
a revised model, DOE did not revise the
shipments model methodology from
that of the March 2009 NOPR.
DOE did update the model to reflect
new estimates of future building new
construction and resulting building
stock in each year based on the April
2009 AEO2009 reference case. DOE
reports the revised shipment forecasts
for the boiler market for selected years
from 2012 to 2042 for the base case in
Table V.3 below.
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2009 NOPR to calculate the energy
savings and the national economic costs
and savings from new standards, but
with updates to specific input data.
For each efficiency level analyzed,
DOE calculated the NPV and NES for
adopting more-stringent standards than
the efficiency levels specified in
ASHRAE Standard 90.1–2007. The NES
refers to cumulative energy savings from
2012 through 2042. DOE calculated new
energy savings in each year relative to
a base case, defined to include DOE
adoption of the efficiency levels
specified by ASHRAE Standard 90.1–
2007. The NPV refers to cumulative
monetary savings. DOE calculated net
monetary savings for higher standards
in each year relative to the base case as
the total operating cost savings minus
the increases in total installed cost.
Cumulative savings are the sum of the
annual NPV over the specified period.
DOE accounted for operating cost
savings until 2085, when 95 percent of
all the equipment installed in 2042
should be retired.
Table V.4 summarizes the inputs to
the NES spreadsheet model along with
a brief description of the data sources.
The results of DOE’s NES and NPV
analysis are summarized in section
VI.B.2 and described in detail in chapter
7 of the final rule TSD.
TABLE V.4—SUMMARY OF NES AND NPV MODEL INPUTS
Inputs
Description
Changes for final rule
Shipments .............................................
Annual shipments from shipments model (see chapter 6 of
the final rule TSD).
Used updated shipment estimates based
on AEO2009 reference case building
stock forecasts.
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H. National Impact Analysis—National
Energy Savings and Net Present Value
Analysis
The national impacts analysis
evaluates the impact of a proposed
energy conservation standard from a
national perspective rather than from
the customer perspective represented by
the LCC. This analysis assesses the
national energy savings (NES) and
national net present value (NPV) of the
commercial customer costs and savings
that are expected to result from
amended standards at the analyzed
efficiency levels. For the final rule
analysis, DOE used the same
spreadsheet model used in the March
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TABLE V.4—SUMMARY OF NES AND NPV MODEL INPUTS—Continued
Inputs
Description
Effective Date of Standard ....................
2014 for adoption of a more-stringent efficiency level than
those specified by ASHRAE Standard 90.1–2007. 2012
for adoption of the efficiency levels specified by
ASHRAE Standard 90.1–2007.
Distribution of base-case shipments by efficiency level ......
Distribution of shipments by efficiency level for each
standards case. Standards-case annual shipmentweighted market shares remain the same as in the
base case and each standard level for all efficiencies
above the efficiency level being analyzed. All other shipments are at the efficiency level.
Annual national weighted-average values are a function of
efficiency level. (See chapter 4 of the final rule TSD.).
Annual weighted-average values are a function of efficiency level. (See chapter 5 of the final rule TSD.).
Annual weighted-average values increase with manufacturer’s cost level. (See chapter 5 of the final rule TSD.).
See chapter 5 of the final rule TSD ....................................
AEO2008 forecasts (to 2030) and extrapolation for beyond
2030. (See chapter 5 of the final rule TSD.).
Based on average annual site-to-source conversion factor
for natural gas from AEO2008.
Base Case Efficiencies .........................
Standard Case Efficiencies ...................
Annual Energy Use per Unit .................
Total Installed Cost per Unit .................
Repair Cost per Unit .............................
Maintenance Cost per Unit ...................
Escalation of Fuel Prices ......................
Site-Source Conversion ........................
Discount Rate .......................................
Present Year .........................................
3 percent and 7 percent real ...............................................
Future costs are discounted to 2008 ...................................
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DOE received no comments on the
general methodology and the results for
the NES and NPV analysis. As a result,
DOE retained the same methodology as
was used in the NOPR for the final rule.
Changes to these results from the NOPR
are due to changes in the development
of national average inputs to the NES
and NPV analysis as a result of the
revisions to the LCC and shipments
calculations.
I. Environmental Assessment
DOE prepared an environmental
assessment (EA) which assesses the
impacts of the proposed rule pursuant
to the National Environmental Policy
Act of 1969 (42 U.S.C. 4321 et seq.)
(NEPA), the regulations of the Council
on Environmental Quality (40 CFR parts
1500–1508), and DOE’s regulations for
compliance with the National
Environmental Policy Act (10 CFR part
1021). This EA includes a concise
examination of the impacts of emission
reductions likely to result from the
proposed standards for commercial
packaged boilers and water-cooled and
evaporatively cooled commercial
packaged air conditioners and heat
pumps with a cooling capacity at or
above 240,000 Btu/h and less than
760,000 Btu/h. The EA has been
incorporated as chapter 8 in the final
rule TSD.
Specifically, DOE estimated the
reduction in total emissions of carbon
dioxide (CO2), nitrogen oxides (NOX)
and sulfur dioxide (SO2). A fourth
pollutant, mercury (Hg), is emitted in
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Changes for final rule
only trace amounts by the equipment
covered in this analysis that further
analysis of Hg in this EA would be
uninformative; as such, DOE does not
discuss Hg emissions in this EA.
1. Sulfur Dioxide
Sulfur dioxide is a chemical
compound that is produced by various
natural and industrial processes and is
a key contributor to acid rain. The Clean
Air Act Amendments of 1990 set an SO2
emissions cap on all power generation,
but permitted flexibility among
generators through the use of emissions
allowances and tradable permits. This
SO2 trading process (sometimes called
‘‘cap and trade’’) does not, however,
cover commercial packaged boilers. The
EPA’s New Source Performance
Standards (NSPS) limit, among other
things, SO2 emissions from boilers built
after a certain date. In particular, 40 CFR
part 60 subpart Dc, Standards of
Performance for Small IndustrialCommercial-Institutional Steam
Generating Units, requires that small
industrial-commercial-institutional
steam generating units constructed,
modified, or reconstructed after June 9,
1989, must limit the allowable sulfur
content in fuel oil to 0.5 weight percent
for any steam-generating unit that has a
maximum design heat input capacity of
100 million British thermal units (Btu)
per hour. (40 CFR 60.40c–60.48c)
Commercial packaged boilers that have
a maximum design heat input capacity
of 100 million Btu per hour would be
an extremely small subset of all boilers
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No change.
No change.
No change.
No change.
Modified to reflect changes in installation
costs from LCC analysis.
No change.
No change.
Modified to reflect April 2009 AEO2009
reference case forecasts.
Based on average annual site-to-source
conversion factor for natural gas from
AEO2009 reference case.
No change.
No change.
being considered in this rule.
Consequently, there is a direct SO2
environmental benefit from a reduction
in fuel consumption resulting from the
higher efficiency standards for
commercial packaged boilers being
adopted in today’s final rule.
2. Nitrogen Oxides
Nitrogen oxides, or NOX, are the
generic term for a group of highly
reactive gases, all of which contain
nitrogen and oxygen in varying
amounts. Nitrogen oxides form when
fossil fuel is burned at high
temperatures, as in a combustion
process, and are considered a criteria
pollutant under the Clean Air Act. The
primary man-made sources of NOX
emissions are motor vehicles, electric
utilities, and other industrial,
commercial, and residential sources that
burn fossil fuels. NOX emissions from
28 eastern States and the District of
Columbia (DC) are limited under the
Clean Air Interstate Rule, published in
the Federal Register on May 12, 2005.
Although the rule has been remanded to
the EPA by the D.C. Circuit Court, it will
remain in effect until it is replaced by
a rule consistent with the Court’s
opinion in North Carolina v.
EPA.17 Under CAIR, States must achieve
17 On July 11, 2008, the U.S. Court of Appeals for
the District of Columbia Circuit (D.C. Circuit) issued
its decision in North Carolina v. Environmental
Protection Agency, in which the Court vacated the
CAIR rule. 531 F.3d 896 (D.C. Cir. 2008). However,
in a December 23, 2008 opinion, the same panel of
the D.C. Circuit reinstated the CAIR rule pending
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the required emission reductions using
one of two compliance options: (1) Meet
an emissions budget for each regulated
State by requiring power plants to
participate in an EPA-administered
interstate cap-and-trade system that
caps emissions in two stages; or (2) meet
an individual State emissions budget
through measures of the State’s
choosing. In general, however, CAIR
basically covers two general classes of
NOX emitters: (1) Stationary, fossil-fuelfired boilers or stationary, fossil-fuelfired combustion turbines serving
generators with nameplate capacity of
more than 25 MW of electricity and
producing that electricity for sale; and
(2) any unit that has a maximum design
heat input rate of greater than 250
million Btu/h (40 CFR 96.4).
Commercial packaged boilers have a
maximum design heat input rate of less
than 250 million Btu/h and are not used
for commercial power production.
Hence, requirements of the CAIR do not
apply to commercial packaged boilers.
Consequently, there is a direct NOX
environmental benefit from a reduction
in fuel consumption resulting from the
higher efficiency standards for
commercial packaged boilers.
The EA assesses environmental
impacts from alternate standard levels
analyzed for commercial packaged
boilers based on the results of the
national energy savings analysis (see
chapter 7). Standards for water-cooled
and evaporatively-cooled commercial
package air conditioners and heat
pumps with a cooling capacity at or
above 240,000 Btu/h and less than
760,000 Btu/h were also considered in
this rule. However, since no products
could be identified on the market in this
class, no subsequent energy or
environmental impacts were considered
in this EA. For commercial packaged
boilers, DOE calculated emission
reductions using emission factors
appropriate to commercial boilers that
use natural gas or fuel oil as fuel
sources. The emissions factors provide
typical ratios of emissions for SO2, NOX,
and CO2 per unit of natural gas or fuel
oil energy consumed. DOE multiplied
each emission factor, respectively, by
the annual energy savings for each class
of commercial packaged boiler as
developed in the NES for the final rule.
The annual emission reductions were
then summed over the period from
2012–2042 separately for each class.
EPA’s compliance with its July 11, 2008 ruling. 550
F.3d 1176 (D.C. Cir. 2008) (remand of vacatur). As
such, CAIR’s trading programs and target deadlines
remain in place at present; however, the long term
prospects for and shape of those trading programs
are unknown.
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The resulting emission reductions are
shown in section VI.
J. Monetizing Carbon Dioxide and Other
Emissions Impacts
DOE also calculated the possible
monetary benefit of CO2, NOX, and SO2
emissions reductions. Cumulative
monetary benefits were determined
using discount rates of 3 and 7 percent.
DOE monetized reductions in CO2
emissions stemming from the standards
adopted in this final rule using a range
of monetary values drawn from studies
that attempt to estimate the present
value of the marginal economic benefits
(based on the avoided marginal social
costs of carbon) likely to result from
reducing greenhouse gas emissions. The
marginal social cost of carbon is an
estimate of the monetary value to
society of the environmental damages of
CO2 emissions.
DOE monetized reductions in SO2
emissions using a ranges estimates of
monetized benefits that could be
attributed to the reduction of SO2
emissions from commercial packaged
boilers. At one end, DOE used the
annual estimates of an SO2 trading price
as developed in the National Energy
Modeling System (NEMS) electricity
market model for the western and
eastern U.S. This model estimates a
trading price for SO2 in the utility
markets, and, while not directly
applicable to commercial packaged
boilers, it reflects a market value for the
cost of reducing SO2 emissions into the
atmosphere. As DOE is interested in a
national estimate, it used a simple
average of the trading prices from the
eastern and western electricity market
models for the period from 2012–2030,
and extrapolated the prices out through
2042. The range in SO2 costs from this
source varied both by year and region
from $86 to $1,012 (2007$). At the
higher end, DOE used an estimate of
environmental damage costs of $7,300
per ton of SO2 from stationary sources,
measured in 2001$ or $8,542 per ton in
2007$. These low and high values were
in turn multiplied by the reduction in
emissions of SO2 estimated for the
period from 2012–2042.
DOE estimated the national
monetized benefits of NOX reductions
associated with this rulemaking based
on environmental damage estimates
from the literature. Available estimates
suggest a very wide range of monetary
values for NOX emissions, ranging from
$370 per ton to $3,800 per ton of NOX
from stationary sources, measured in
2001$, or a range of $432 per ton to
$4,441 per ton in 2007$.
The resulting estimates of the present
value of monetary benefits associated
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36333
with the national reduction of CO2,
NOX, and SO2 emissions resulting from
adoption of standards for commercial
packaged boilers at the ASHRAE 90.1–
2007 efficiency levels are shown in
section VI. In addition, estimates of the
additional benefits for adopting
standards higher than the ASHRAE
90.1–2007 efficiency levels are also
provided in section VI.
DOE notes that neither EPCA nor
NEPA requires that the economic value
of emissions reduction be incorporated
in the LCC or NPV analysis of energy
savings. DOE has chosen to report these
benefits separately from the net benefits
of energy savings, but considered these
benefits when weighing the benefits and
burdens of standards.
K. Other Issues
1. Impact of Standards on Natural Gas
Prices
In the March 2009 NOPR public
meeting, EarthJustice pointed out that
DOE had, in certain residential
rulemakings, begun to calculate the
potential impact of energy efficiency
standards on natural gas prices and
encouraged DOE to do something
similar in the ASHRAE products
rulemaking analysis. (EarthJustice,
Public Meeting Transcript, No. 13 at p.
61)
In response to these comments, DOE
undertook a further review of the
potential impact of commercial
packaged boiler energy efficiency
standards on natural gas prices. A
review of the economic literature
indicates that there is support for the
idea that an impact will occur and that
that impact would result in a reduction
in overall natural gas prices. DOE
examined two preliminary analyses of
the effect that a reduction in natural gas
usage due to efficiency standards would
have on natural gas prices. These were
analyses and results published in the
2007 furnace and boiler final rule (72 FR
65136, 65152–54 (Nov. 19, 2007)) and in
the preliminary analysis documented in
the preliminary TSD for standards for
residential water heaters. The natural
gas price analysis for the furnaces and
boilers rulemaking was conducted using
a version of the 2007 NEMS–BT that
was modified to account for energy
savings associated with possible
standards for residential gas furnaces,
and the price analysis for the residential
water heaters standards rulemaking was
conducted using the 2008 NEMS–BT.
The preliminary analyses in both
cases estimated that gas demand
reductions resulting from more stringent
minimum energy conservation
standards would reduce the U.S.
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average wellhead natural gas price. An
inverse elasticity was calculated in both
studies, relating a percentage change in
the average wellhead natural gas price
to a percentage reduction in total annual
natural gas consumption. In the furnace
and boiler rule, DOE estimated that this
inverse elasticity was approximately 0.9
percent. In the residential water heater
preliminary analysis, DOE estimated an
inverse elasticity of approximately 0.8
percent. Given the closeness of these
two figures, and the corresponding
similarity in energy end-use profile
expected for space heating equipment,
DOE chose to estimate the impact for
commercial packaged boilers based on
the elasticity estimated for residential
furnaces. DOE’s analysis was based on
the impact calculated from adopting the
highest efficiency level analyzed for the
class of small gas fired hot water boilers.
The condensing efficiency level for
small gas fired hot water boilers showed
an estimated savings of 0.223 quads
over the period from 2012–2042. DOE
estimated the impact that the stream of
energy savings would have on natural
gas prices over the same period. Using
this time period, DOE estimated that the
average price changes amounted to a
decrease in the wellhead price for
natural gas of 0.25 cents per million Btu.
Analysis done for the furnace and boiler
rule showed that while changes in price
were both positive and negative
depending on sector, the effect on the
wellhead price for natural gas was a
decrease.
In previous studies, the projected
change in the natural gas price varies
among the end use sectors. For example,
in the analysis for residential furnaces,
DOE estimated that natural gas prices
would decrease for the industrial and
electric power sectors, and increase for
residential consumers. The increase in
the residential price is believed to occur
because the fixed charges (e.g.,
transmission infrastructure costs) are
spread over fewer million Btu of gas
sales in the standards case, thus placing
upward pressure on the average price
per million Btu. A similar pattern could
be expected to occur in the commercial
sector.
Although the estimated reduction in
average natural gas prices is small, the
estimated economy-wide savings in
natural gas expenditures over the 2012–
2042 forecast period have an estimated
net present value of $0.29 billion at a
seven-percent discount rate.
In addition to conducting its own
analysis using NEMS, DOE reviewed the
results of: (1) Studies that used NEMS
to investigate the price impact of
reductions in natural gas demand, and
(2) studies that used other energy-
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economic models to investigate the
price impact of substantial change in
natural gas demand. While the results
vary considerably among the different
studies, they generally show a price
response similar to or larger than that
shown by DOE’s NEMS analysis.
In the short run, DOE’s preliminary
analysis indicates that consumer savings
from lower natural gas prices would be
offset by declines in gas producer
revenue. In the long run, the previous
analyses indicate that the reduction in
natural gas prices mainly results from
changes in gas extraction costs. Since
there is only a limited supply of lowcost, conventional natural gas sources,
natural gas extraction costs rise over
time as these low-cost sources are
depleted. Reduced gas demand puts
downward pressure on extraction costs
and prices by delaying the depletion of
the low-cost reserves and the shift
toward higher-cost sources. However, as
changes in extraction costs are projected
to occur in 2030 and beyond, the
uncertainty of the actual savings that
would be realized is increased.
Based on the discussed analysis, DOE
recognizes that there is uncertainty
about the magnitude, distribution, and
timing of the costs, benefits, and net
benefits within the economy. DOE’s
previous analyses indicated that the
prices of natural gas to the end use
consumers (residential) would increase
slightly, due to fixed costs in the
distribution of natural gas to the
consumer becoming a higher fraction of
the total cost. A similar effect is possible
in the commercial sector with
commercial boilers. While DOE has not
been able to estimate these potential
effects, DOE anticipates the effect will
be small since the magnitude of the gas
price change is small (but likely to vary
as the natural gas savings increases).
Similarly, DOE is uncertain of the
effects of the drop in natural gas on
producers and distributors of natural
gas. While their revenues and costs are
expected to drop, it is uncertain
whether they will drop in proportion
over time. The supply side will likely
experience revenue loss due to both the
price changes and the reduction in gas
sales that they will experience.
DOE considered the potential impact
on natural gas prices in the
establishment of the final standards, but
because of the uncertainty of these
impacts, and because DOE’s analysis
has not been subjected to public review,
this factor had little impact on DOE’s
conclusion.
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2. Effective Date of the Amended Energy
Conservation Standards for Commercial
Packaged Boilers
Generally, covered equipment must
comply with the applicable standard if
such equipment is manufactured or
imported on or after a specified date. As
explained in the March 2009 NOPR,
DOE evaluated whether more-stringent
efficiency levels than those in ASHRAE
Standard 90.1–2007 would be
technologically feasible and
economically justified and result in a
significant amount of additional energy
savings. 74 FR 12003. Because DOE
found that more stringent standards did
not meet these requirements and is
adopting energy conservation standards
at the efficiency levels contained in
ASHRAE Standard 90.1–2007, EPCA
requires the standards to become
effective ‘‘on or after a date which is two
years after the effective date of the
applicable minimum energy efficiency
requirement in the amended ASHRAE/
IES[NA] standard * * *’’. (42 U.S.C.
6313(a)(6)(D)) Thus, for the equipment
classes where a two-tier standard is setforth, the effective date of the
rulemaking depends on the effective
date specified in ASHRAE Standard
90.1–2007. The effective date in
ASHRAE Standard 90.1–2007 for
commercial packaged boilers is March
2, 2010, for the initial efficiency level
(which would require an effective date
of March 2, 2012), and the effective date
in ASHRAE Standard 90.1–2007 for the
two commercial packaged boiler
equipment classes with a tiered
efficiency level is March 2, 2020 for the
second tier efficiency level (which
would require an effective date of March
2, 2022).
For analysis purposes, if DOE were to
adopt a rule prescribing energy
conservation standards higher than the
efficiency levels contained in ASHRAE
Standard 90.1–2007, EPCA states that
any such standards ‘‘shall become
effective for products manufactured on
or after a date which is four years after
the date such rule is published in the
Federal Register.’’ (42 U.S.C.
6313(a)(6)(D)) DOE has applied this 4year implementation period to
determine the effective date of any
energy conservation standard higher
than the efficiency levels specified by
ASHRAE Standard 90.1–2007 that might
be prescribed in a future rulemaking.
Thus, for products for which DOE might
adopt a level more stringent than the
ASHRAE efficiency levels, the rule
would apply to products manufactured
on or after July 2014, which is four years
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Federal Register / Vol. 74, No. 139 / Wednesday, July 22, 2009 / Rules and Regulations
from the date of publication of the final
rule.18
Table V.5 presents the anticipated
effective dates of an amended energy
conservation standard for each
36335
equipment class for which DOE
developed a potential energy savings
analysis.
TABLE V.5—ANTICIPATED EFFECTIVE DATE OF AN AMENDED ENERGY CONSERVATION STANDARD FOR EACH EQUIPMENT
CLASS OF COMMERCIAL PACKAGED BOILERS
Anticipated effective
date for adopting the
efficiency levels in
ASHRAE standard
90.1–2007
Equipment class
Small Gas-Fired Hot Water Commercial Packaged Boilers ................................................
Small Gas-Fired Steam, All Except Natural Draft Commercial Packaged Boilers ..............
Small Gas-Fired Steam Natural Draft Commercial Packaged Boilers ................................
Small Oil-Fired Hot Water Commercial Packaged Boilers ..................................................
Small Oil-Fired Steam Commercial Packaged Boilers ........................................................
Large Gas-Fired Hot Water Commercial Packaged Boilers ................................................
Large Gas-Fired Steam, All Except Natural Draft Commercial Packaged Boilers .............
Large Gas-Fired Steam Natural Draft Commercial Packaged Boilers ................................
Large Oil-Fired Hot Water Commercial Packaged Boilers ..................................................
Large Oil-Fired Steam Commercial Packaged Boilers ........................................................
VI. Analytical Results for Commercial
Packaged Boilers
A. Efficiency Levels Analyzed
Table VI.1 presents the baseline
efficiency level and the efficiency levels
Anticipated effective date
for adopting more stringent
efficiency levels than those
in ASHRAE standard
90.1–2007
2012 ..............................
2012 ..............................
Tier 1: 2012 ..................
Tier 2: 2022.
2012 ..............................
2012 ..............................
2012 ..............................
2012 ..............................
Tier 1: 2012 ..................
Tier 2: 2022.
2012 ..............................
2012 ..............................
analyzed for each equipment class of
commercial packaged boilers subject to
today’s final rule. The baseline
efficiency levels correspond to the
efficiency levels specified by ASHRAE
Standard 90.1–2007 for commercial
2014
2014
2014
2014
2014
2014
2014
2014
2014
2014
packaged boilers. The efficiency levels
above the baseline represent efficiency
levels above those specified in ASHRAE
Standard 90.1–2007 where equipment is
currently available on the market.
TABLE VI.1—EFFICIENCY LEVELS ANALYZED
Representative
capacity
(kBtu/h)
Equipment class
800
Small gas-fired steam, all except natural draft ...................................................................................
800
Small gas-fired steam natural draft .....................................................................................................
800
Small oil-fired hot water ......................................................................................................................
800
Small oil-fired steam ............................................................................................................................
800
Large gas-fired hot water ....................................................................................................................
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Small gas-fired hot water ....................................................................................................................
3,000
18 Since ASHRAE published Standard 90.1–2007
on January 10, 2008, EPCA requires that DOE
publish a final rule adopting more-stringent
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standards than those adopted in Standard 90.1–
2007 within 30 months of ASHRAE action (i.e., by
July 2010). Thus, four years from July 2010 would
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Efficiency levels
analyzed
Baseline—80% ET
82% ET
84% ET
86% ET
Condensing—92% ET
Baseline—79% ET
80% ET
81% ET
82% ET
83% ET
Baseline—77% ET
78% ET
79% ET
80% ET
Baseline—82% ET
84% ET
86% ET
88% ET
Baseline—81% ET
82% ET
83% ET
85% ET
Baseline—82% EC
83% EC
84% EC
85% EC
Condensing—95% EC
be July 2014, which would be the anticipated
effective date for DOE adoption of more-stringent
standards.
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TABLE VI.1—EFFICIENCY LEVELS ANALYZED—Continued
Representative
capacity
(kBtu/h)
Equipment class
Large gas-fired steam, all except natural draft ...................................................................................
3,000
Large gas-fired steam natural draft .....................................................................................................
3,000
Large oil-fired hot water ......................................................................................................................
3,000
Large oil-fired steam ...........................................................................................................................
3,000
B. Economic Justification and Energy
Savings
1. Economic Impacts on Commercial
Customers
To evaluate the economic impact of
the efficiency levels on commercial
customers, DOE conducted an LCC
analysis for each efficiency level. More
efficient commercial packaged boilers
would affect these customers in two
ways: (1) Annual operating expense
would decrease; and (2) purchase price
would increase. Inputs used for
calculating the LCC include total
installed costs (i.e., equipment price
plus installation costs), operating
expenses (i.e., annual energy savings,
energy prices, energy price trends,
repair costs, and maintenance costs),
equipment lifetime, and discount rates.
The output of the LCC model is a
mean LCC savings for each equipment
class, relative to the baseline
commercial packaged boiler efficiency
level. The LCC analysis also provides
information on the percentage of
customers that are negatively affected by
an increase in the minimum efficiency
standard.
DOE also performed a PBP analysis as
part of the LCC analysis. The PBP is the
number of years it would take for the
customer to recover the increased costs
of higher-efficiency equipment as a
result of energy savings based on the
operating cost savings. The PBP is an
economic benefit-cost measure that uses
benefits and costs without discounting.
Chapter 5 of the final rule TSD provides
detailed information on the LCC and
PBP analyses.
Efficiency levels
analyzed
Baseline—79%
80% ET
81% ET
82% ET
83% ET
Baseline—77%
78% ET
79% ET
80% ET
81% ET
Baseline—84%
86% EC
87% EC
88% EC
Baseline—81%
82% ET
83% ET
84% ET
86% ET
ET
ET
EC
ET
DOE’s LCC and PBP analyses
provided five key outputs for each
efficiency level above the baseline (i.e.,
efficiency levels more stringent than
those in ASHRAE Standard 90.1–2007),
reported in Table VI.2 through Table
VI.11. The first three outputs are the
proportion of commercial boiler
purchases where the purchase of a
commercial packaged boiler that is
compliant with the amended energy
conservation standard creates a net LCC
increase, no impact, or a net LCC
savings for the customer. The fourth
output is the average net LCC savings
from standard-compliant equipment.
The fifth output is the average PBP for
the customer investment in standardcompliant equipment. The sixth output
is the increase in total installed cost
from standard-compliant equipment.
TABLE VI.2—SUMMARY LCC AND PBP RESULTS FOR SMALL GAS-FIRED HOT WATER BOILERS, 800 kBTU/h OUTPUT
CAPACITY
Efficiency level
Small gas-fired hot water
1
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Thermal Efficiency (Et) .....................................................................................
Equipment with Net LCC Increase (%) ...........................................................
Equipment with No Change in LCC (%) ..........................................................
Equipment with Net LCC Savings (%) ............................................................
Mean LCC Savings ($) ....................................................................................
Mean PBP (years) ...........................................................................................
Increase in Total Installed Cost ($) .................................................................
2
82%
9
77
14
$1,700
25.4
$3,364
3
84%
21
48
31
$3,239
30.6
$5,526
*Numbers in parentheses indicate negative LCC savings.
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4
86%
42
25
33
$1,329
42.7
$9,045
92%
64
18
19
($4,760)
56.7
$14,323
Federal Register / Vol. 74, No. 139 / Wednesday, July 22, 2009 / Rules and Regulations
36337
TABLE VI.3—SUMMARY LCC AND PBP RESULTS FOR SMALL GAS-FIRED STEAM, ALL EXCEPT NATURAL DRAFT, 800
kBTU/h OUTPUT CAPACITY
Efficiency level
Small gas-fired steam, all except natural draft
1
Thermal Efficiency (Et) .....................................................................................
Equipment with Net LCC Increase (%) ...........................................................
Equipment with No Change in LCC (%) ..........................................................
Equipment with Net LCC Savings (%) ............................................................
Mean LCC Savings ($) ....................................................................................
Mean Payback Period (years) .........................................................................
Increase in Total Installed Cost ($) .................................................................
2
80%
27
64
9
($870)
41.6
$3,204
3
82%
71
10
19
($2,423)
50.7
$7,674
81%
58
19
23
($674)
41.8
$4,946
4
83%
73
7
20
($3,064)
50.8
$9,831
* Numbers in parentheses indicate negative savings.
TABLE VI.4—SUMMARY LCC AND PBP RESULTS FOR SMALL GAS-FIRED STEAM NATURAL DRAFT BOILERS, 800 kBTU/h
OUTPUT CAPACITY
Efficiency level
Small gas-fired steam natural draft
1
Thermal Efficiency (Et) ................................................................................................................
Equipment with Net LCC Increase (%) .......................................................................................
Equipment with No Change in LCC (%) .....................................................................................
Equipment with Net LCC Savings (%) ........................................................................................
Mean LCC Savings * ($) ..............................................................................................................
Mean PBP (years) .......................................................................................................................
Increase in Total Installed Cost ($) .............................................................................................
2
78%
44
32
25
($50)
30.9
$2,875
3
79%
35
22
43
$1,657
25.4
$3,926
80%
43
3
54
$2,184
28.7
$5,562
* Numbers in parentheses indicate negative savings.
TABLE VI.5—SUMMARY LCC AND PBP RESULTS FOR SMALL OIL-FIRED HOT WATER BOILERS, 800 kBTU/h OUTPUT
CAPACITY
Efficiency level
Small oil-fired hot water
1
Thermal Efficiency (Et) ................................................................................................................
Equipment with Net LCC Increase (%) .......................................................................................
Equipment with No Change in LCC (%) .....................................................................................
Equipment with Net LCC Savings (%) ........................................................................................
Mean LCC Savings ($) ................................................................................................................
Mean PBP (years) .......................................................................................................................
Increase in Total Installed Cost ($) .............................................................................................
2
84%
10
39
51
$4,902
16.5
$3,506
3
86%
10
27
63
$9,770
17.5
$5,912
88%
28
7
65
$11,482
24.0
$9,737
TABLE VI.6—SUMMARY LCC AND PBP RESULTS FOR SMALL OIL-FIRED STEAM BOILERS, 800 kBTU/h OUTPUT CAPACITY
Efficiency level
Small oil-fired hot water
1
Thermal Efficiency (Et) ................................................................................................................
Equipment with Net LCC Increase (%) .......................................................................................
Equipment with No Change in LCC (%) .....................................................................................
Equipment with Net LCC Savings (%) ........................................................................................
Mean LCC Savings * ($) ..............................................................................................................
Mean PBP (years) .......................................................................................................................
Increase in Total Installed Cost ($) .............................................................................................
2
82%
29
58
13
($732)
35.1
$3,136
3
83%
46
24
30
$88
33.7
$4,739
85%
54
6
40
$864
35.0
$8,236
* Numbers in parentheses indicate negative savings.
jlentini on DSKJ8SOYB1PROD with RULES2
TABLE VI.7—SUMMARY LCC AND PBP RESULTS FOR LARGE GAS-FIRED HOT WATER BOILERS, 3,000 kBTU/h OUTPUT
CAPACITY
Efficiency level
Large gas-fired hot water
1
Combustion Efficiency (EC) .............................................................................
Equipment with Net LCC Increase (%) ...........................................................
Equipment with No Change in LCC (%) ..........................................................
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8
51
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3
84%
15
23
22JYR2
4
85%
31
17
95%
45
6
36338
Federal Register / Vol. 74, No. 139 / Wednesday, July 22, 2009 / Rules and Regulations
TABLE VI.7—SUMMARY LCC AND PBP RESULTS FOR LARGE GAS-FIRED HOT WATER BOILERS, 3,000 kBTU/h OUTPUT
CAPACITY—Continued
Efficiency level
Large gas-fired hot water
1
Equipment with Net LCC Savings (%) ............................................................
Mean LCC Savings ($) ....................................................................................
Mean PBP (years) ...........................................................................................
Increase in Total Installed Cost ($) .................................................................
2
41
$6,411
15.3
$4,093
3
4
62
$11,303
19.3
$7,742
52
$11,324
28.7
$13,560
50
$13,271
38.3
$37,293
TABLE VI.8—SUMMARY LCC AND PBP RESULTS FOR LARGE GAS-FIRED STEAM, ALL EXCEPT NATURAL DRAFT BOILERS,
3,000 kBTU/h OUTPUT CAPACITY
Efficiency level
Large gas-fired steam, all except natural draft
1
Thermal Efficiency (Et) .....................................................................................
Equipment with Net LCC Increase (%) ...........................................................
Equipment with No Change in LCC (%) ..........................................................
Equipment with Net LCC Savings (%) ............................................................
Mean LCC Savings ($) ....................................................................................
Mean Payback Period (years) .........................................................................
Increase in Total Installed Cost ($) .................................................................
2
80%
4
61
34
$7,876
11.8
$3,969
3
4
81%
4
26
70
$18,144
8.8
$5,638
82%
3
23
74
$27,941
8.0
$7,398
83%
3
20
77
$37,065
7.8
$9,423
TABLE VI.9—SUMMARY LCC AND PBP RESULTS FOR LARGE GAS-FIRED STEAM NATURAL DRAFT BOILERS, 3,000 kBTU/h
OUTPUT CAPACITY
Efficiency level
Large gas-fired steam natural draft
1
Thermal Efficiency (Et) .....................................................................................
Equipment with Net LCC Increase (%) ...........................................................
Equipment with No Change in LCC (%) ..........................................................
Equipment with Net LCC Savings (%) ............................................................
Mean LCC Savings ($) ....................................................................................
Mean Payback Period (years) .........................................................................
Increase in Total Installed Cost ($) .................................................................
2
78%
1
88
12
$9,531
9.1
$3,410
3
4
79%
2
42
55
$19,836
8.0
$5,484
80%
4
24
72
$28,016
9.0
$8,635
81%
10
7
83
$33,835
11.0
$13,060
TABLE VI.10—SUMMARY LCC AND PBP RESULTS FOR LARGE OIL-FIRED HOT WATER BOILERS, 3,000 kBTU/h OUTPUT
CAPACITY
Efficiency level
Large oil-fired hot water
1
Combustion Efficiency (EC) .........................................................................................................
Equipment with Net LCC Increase (%) .......................................................................................
Equipment with No Change in LCC (%) .....................................................................................
Equipment with Net LCC Savings (%) ........................................................................................
Mean LCC Savings ($) ................................................................................................................
Mean PBP (years) .......................................................................................................................
Increase in Total Installed Cost ($) .............................................................................................
2
3
86%
2
52
46
$26,820
8.4
$6,644
87%
7
24
69
$35,114
11.8
$12,067
88%
10
24
66
$42,551
14.3
$17,736
TABLE VI.11—SUMMARY LCC AND PBP RESULTS FOR LARGE OIL-FIRED STEAM BOILERS, 3,000 kBTU/h OUTPUT
CAPACITY
Efficiency level
Large oil-fired steam
jlentini on DSKJ8SOYB1PROD with RULES2
1
Thermal Efficiency (Et) .....................................................................................
Equipment with Net LCC Increase (%) ...........................................................
Equipment with No Change in LCC (%) ..........................................................
Equipment with Net LCC Savings (%) ............................................................
Mean LCC Savings ($) ....................................................................................
Mean Payback Period (years) .........................................................................
Increase in Total Installed Cost ($) .................................................................
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3
4
82%
1
66
33
$13,940
1
$3,885
83%
2
41
57
$27,598
2
$6,970
84%
8
16
77
$37,978
8
$11,724
86%
9
11
81
$59,175
9
$20,263
E:\FR\FM\22JYR2.SGM
22JYR2
Federal Register / Vol. 74, No. 139 / Wednesday, July 22, 2009 / Rules and Regulations
2. National Impact Analysis
a. Amount and Significance of Energy
Savings
To estimate the energy savings
through 2042 due to amended energy
conservation standards, DOE compared
the energy consumption of commercial
boilers under the base case (i.e., the
ASHRAE 90.1–2007 efficiency levels) to
energy consumption of boilers under
higher efficiency standards. DOE
examined up to four efficiency levels
higher than those of ASHRAE Standard
90.1–2007. The amount of energy
savings depends not only on the
potential increase in energy efficiency
resulting from the adoption of a
standard, but also on the rate at which
the stock of existing, less-efficient
commercial boilers will be replaced
over time after implementation of the
amended energy conservation standard.
Table VI.12 shows the forecasted
national energy savings at each of the
36339
standard levels. DOE reports both
undiscounted and discounted estimates
of energy savings. Table VI.13 and Table
VI.14 show the magnitude of the energy
savings if they are discounted at rates of
7 percent and 3 percent, respectively.
Each standard level considered in this
rulemaking would result in significant
energy savings, and the amount of
savings increases with higher energy
conservation standards. (See chapter 7
of the final rule TSD.)
TABLE VI.12—SUMMARY OF CUMULATIVE NATIONAL ENERGY SAVINGS FOR COMMERCIAL BOILERS
[Energy savings for units sold from 2012 to 2042, undiscounted]
National energy savings (quads)*
Equipment class
Efficiency
level 1
Small gas-fired hot water ...............................................................................................
Small gas-fired steam, all except natural draft ..............................................................
Small gas-fired steam natural draft ...............................................................................
Small oil-fired hot water .................................................................................................
Small oil-fired steam ......................................................................................................
Large gas-fired hot water ..............................................................................................
Large gas-fired steam, all except natural draft .............................................................
Large gas-fired, steam natural draft ..............................................................................
Large oil-fired hot water .................................................................................................
Large oil-fired steam ......................................................................................................
Efficiency
level 2
0.023
0.000
(0.006)
0.016
0.010
0.015
0.023
(0.023)
0.014
0.041
0.076
0.015
0.017
0.036
0.028
0.039
0.066
0.004
0.025
0.112
Efficiency
level 3
0.147
0.031
0.044
0.060
0.071
0.064
0.110
0.039
0.036
0.209
Efficiency
level 4
0.223
0.048
n/a
n/a
n/a
0.185
0.155
0.079
n/a
0.431
* Numbers in parentheses indicate negative potential energy savings due to the delayed implementation of more-stringent efficiency levels
compared to the efficiency levels specified in ASHRAE Standard 90.1–2007.
TABLE VI.13—SUMMARY OF CUMULATIVE NATIONAL ENERGY SAVINGS FOR COMMERCIAL BOILERS
[Energy savings for units sold from 2012 to 2042, discounted at seven percent]
National energy savings (quads)*
Equipment class
Efficiency
level 1
Small gas-fired hot water ...............................................................................................
Small gas-fired steam, all except natural draft ..............................................................
Small gas-fired steam natural draft ...............................................................................
Small oil-fired hot water .................................................................................................
Small oil-fired steam ......................................................................................................
Large gas-fired hot water ..............................................................................................
Large gas-fired steam, all except natural draft .............................................................
Large gas-fired steam natural draft ...............................................................................
Large oil-fired hot water .................................................................................................
Large oil-fired steam ......................................................................................................
Efficiency
level 2
0.005
(0.000)
(0.000)
0.003
0.002
0.003
0.005
(0.003)
0.003
0.008
0.015
0.003
0.004
0.007
0.006
0.008
0.014
0.002
0.005
0.023
Efficiency
level 3
0.030
0.006
0.010
0.012
0.015
0.013
0.023
0.009
0.007
0.043
Efficiency
level 4
0.045
0.010
n/a
n/a
n/a
0.038
0.032
0.018
n/a
0.088
* Numbers in parentheses indicate negative potential energy savings due to the delayed implementation of more-stringent efficiency levels
compared to the efficiency levels specified in ASHRAE Standard 90.1–2007.
TABLE VI.14—SUMMARY OF CUMULATIVE NATIONAL ENERGY SAVINGS FOR COMMERCIAL BOILERS
[Energy savings for units sold from 2012 to 2042, discounted at three percent]
National energy savings (quads)*
jlentini on DSKJ8SOYB1PROD with RULES2
Equipment class
Efficiency
level 1
Small gas-fired hot water ...............................................................................................
Small gas-fired steam, all except natural draft ..............................................................
Small gas-fired, steam natural draft ..............................................................................
Small oil-fired hot water .................................................................................................
Small oil-fired steam ......................................................................................................
Large gas-fired hot water ..............................................................................................
Large gas-fired steam, all except natural draft .............................................................
Large gas-fired steam, natural draft ..............................................................................
Large oil-fired hot water .................................................................................................
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(0.000)
(0.002)
0.008
0.005
0.007
0.011
(0.010)
0.007
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Efficiency
level 2
0.037
0.007
0.009
0.017
0.013
0.019
0.032
0.003
0.012
22JYR2
Efficiency
level 3
0.071
0.015
0.022
0.029
0.035
0.031
0.054
0.020
0.017
Efficiency
level 4
0.108
0.023
n/a
n/a
n/a
0.090
0.075
0.040
n/a
36340
Federal Register / Vol. 74, No. 139 / Wednesday, July 22, 2009 / Rules and Regulations
TABLE VI.14—SUMMARY OF CUMULATIVE NATIONAL ENERGY SAVINGS FOR COMMERCIAL BOILERS—Continued
[Energy savings for units sold from 2012 to 2042, discounted at three percent]
National energy savings (quads)*
Equipment class
Efficiency
level 1
Large oil-fired steam ......................................................................................................
Efficiency
level 2
0.020
Efficiency
level 3
0.054
0.101
Efficiency
level 4
0.209
* Numbers in parentheses indicate negative potential energy savings due to the delayed implementation of more-stringent efficiency levels
compared to the efficiency levels specified in ASHRAE Standard 90.1–2007.
b. Net Present Value
The NPV analysis is a measure of the
cumulative benefit or cost of standards
to the Nation. In accordance with
OMB’s guidelines on regulatory analysis
(OMB Circular A–4, section E (Sept. 17,
2003)), DOE calculated NPV using both
a 7-percent and a 3-percent real
discount rate. The 7-percent rate is an
estimate of the average before-tax rate of
return on private capital in the U.S.
economy, and reflects the returns to real
estate and small business capital as well
as corporate capital. DOE used this
discount rate to approximate the
opportunity cost of capital in the private
sector because recent OMB analysis has
found the average rate of return on
capital to be near this rate. DOE also
used the 3-percent rate to capture the
potential effects of standards on private
customers’ consumption (e.g., reduced
purchasing of equipment due to higher
prices for equipment and purchase of
reduced amounts of energy). This rate
represents the rate at which society
discounts future consumption flows to
their present value. This rate can be
approximated by the real rate of return
on long-term government debt (e.g.,
yield on Treasury notes minus annual
rate of change in the Consumer Price
Index), which has averaged about 3
percent on a pre-tax basis for the last 30
years. Table VI.15 and Table VI.16
provide an overview of the NPV results.
(See chapter 7 of the final rule TSD.)
TABLE VI.15—SUMMARY OF CUMULATIVE NET PRESENT VALUE FOR BOILERS
[Discounted at seven percent]
Net present value (billion 2008$)
Equipment class
Efficiency
level 1
Small gas-fired hot water .........................................................................................
Small gas-fired steam, all except natural draft ........................................................
Small gas-fired steam natural draft .........................................................................
Small oil-fired hot water ...........................................................................................
Small oil-fired steam ................................................................................................
Large gas-fired hot water ........................................................................................
Large gas-fired steam, all except natural draft .......................................................
Large gas-fired steam natural draft .........................................................................
Large oil-fired hot water ...........................................................................................
Large oil-fired steam ................................................................................................
Efficiency
level 2
($0.007)
(0.036)
(0.033)
0.020
(0.012)
0.015
0.032
(0.055)
0.064
0.132
Efficiency
level 3
($0.003)
(0.039)
(0.011)
0.057
0.004
0.031
0.137
(0.014)
0.111
0.361
($0.167)
(0.082)
(0.023)
0.048
0.019
0.006
0.240
0.004
0.120
0.569
Efficiency
level 4
($0.576)
(0.120)
n/a
n/a
n/a
(0.098)
0.338
(0.024)
n/a
1.151
* Numbers in parentheses indicate negative NPV.
TABLE VI.16—SUMMARY OF CUMULATIVE NET PRESENT VALUE FOR BOILERS
[Discounted at three percent]
Net present value (billion 2008$)
Equipment class
Efficiency
level 1
jlentini on DSKJ8SOYB1PROD with RULES2
Small gas-fired hot water .........................................................................................
Small gas-fired steam, all except natural draft ........................................................
Small gas-fired, steam natural draft ........................................................................
Small oil-fired hot water ...........................................................................................
Small oil-fired steam ................................................................................................
Large gas-fired hot water ........................................................................................
Large gas-fired steam, all except natural draft .......................................................
Large gas-fired steam natural draft .........................................................................
Large oil-fired hot water ...........................................................................................
Large oil-fired steam ................................................................................................
Efficiency
level 2
$0.092
(0.072)
(0.094)
0.131
0.027
0.100
0.178
(0.264)
0.210
0.496
$0.288
(0.010)
0.049
0.297
0.138
0.231
0.599
(0.057)
0.356
1.330
* Numbers in parentheses indicate negative NPV.
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Efficiency
level 3
$0.139
(0.035)
0.132
0.376
0.347
0.264
1.020
0.133
0.422
2.240
Efficiency
level 4
($0.592)
(0.065)
n/a
n/a
n/a
0.470
1.431
0.253
n/a
4.552
Federal Register / Vol. 74, No. 139 / Wednesday, July 22, 2009 / Rules and Regulations
3. Need of the Nation To Conserve
Energy
Improving the energy efficiency of
commercial packaged boilers would
likely improve the security of the
Nation’s energy system by reducing
overall demand for energy, thus
reducing the Nation’s reliance on
foreign sources of energy. Energy
savings for new energy conservation
standards for equipment covered under
this rule would also produce
environmental benefits in the form of
reduced emissions of air pollutants and
greenhouse gases associated with energy
production. Table VI.17 provides DOE’s
estimate of cumulative CO2, NOX, and
SO2 emissions reductions that would
result from the adoption of new
standards for commercial packaged
boilers at the ASHRAE 90.1–2007
efficiency levels. Table VI.18 through
Table VI.20 provide estimates of
additional cumulative CO2, NOX, and
SO2 emissions reductions that would
result from the adoption of new
36341
standards for commercial packaged
boilers that exceed the ASHRAE 90.1–
2007 efficiency levels. The expected
energy savings from the amended
standards for commercial packaged
boilers may also reduce the cost of
maintaining nationwide emissions
standards and constraints. In the
Environmental Impact Analysis (chapter
8 of the final rule TSD), DOE reports
estimated annual changes in CO2, NOX,
and SO2 emissions attributable to each
efficiency level analyzed.
TABLE VI.17—SUMMARY OF CUMULATIVE NATIONAL EMISSIONS IMPACTS FOR COMMERCIAL BOILERS FROM 2012 TO 2042
FOR ADOPTING ASHRAE STANDARD 90.1–2007
Cumulative national emissions impacts from 2012 to 2042
Equipment class
CO2
(metric kilotons)
Small gas-fired hot water .....................................................................................
Small gas-fired steam, all except natural draft ....................................................
Small gas-fired steam natural draft .....................................................................
Small oil-fired hot water .......................................................................................
Small oil-fired steam ............................................................................................
Large gas-fired hot water ....................................................................................
Large gas-fired steam, all except natural draft ...................................................
Large gas-fired steam natural draft .....................................................................
Large oil-fired hot water .......................................................................................
Large oil-fired steam ............................................................................................
NOX
(short tons)
(674)
(31)
(1,937)
(677)
(327)
(296)
(177)
(1,525)
0
0
SO2
(short tons)
(1,177)
(54)
(3,382)
(837)
(404)
(516)
(308)
(2,662)
0
0
0
0
0
(2,628)
(1,267)
0
0
0
0
0
TABLE VI.18—SUMMARY OF CUMULATIVE CO2 EMISSIONS IMPACTS FOR COMMERCIAL BOILERS FROM 2012 TO 2042 FOR
ADOPTION OF ANALYZED HIGHER STANDARDS OVER THE ASHRAE STANDARD 90.1–2007 LEVELS
Cumulative national CO2 emissions impacts from 2012 to
2042, metric kilotons
Equipment class
Efficiency
level 1
Small gas-fired hot water .........................................................................................
Small gas-fired steam, all except natural draft ........................................................
Small gas-fired steam natural draft .........................................................................
Small oil-fired hot water ...........................................................................................
Small oil-fired steam ................................................................................................
Large gas-fired hot water ........................................................................................
Large gas-fired steam, all except natural draft .......................................................
Large gas-fired steam natural draft .........................................................................
Large oil-fired hot water ...........................................................................................
Large oil-fired steam ................................................................................................
Efficiency
level 2
(1,227)
4
332
(1,171)
(704)
(799)
(1,217)
1,226
(1,032)
(3,007)
(4,039)
(797)
(879)
(2,596)
(2,026)
(2,082)
(3,533)
(206)
(1,820)
(8,110)
Efficiency
level 3
(7,858)
(1,666)
(2,355)
(4,342)
(5,189)
(3,425)
(5,889)
(2,054)
(2,590)
(15,167)
Efficiency
level 4
(11,880)
(2,541)
n/a
n/a
n/a
(9,866)
(8,281)
(4,240)
n/a
(31,354)
TABLE VI.19—SUMMARY OF CUMULATIVE NOX EMISSIONS IMPACTS FOR COMMERCIAL BOILERS FROM 2012 TO 2042 FOR
ADOPTION OF ANALYZED HIGHER STANDARDS OVER THE ASHRAE STANDARD 90.1–2007 LEVELS
Cumulative national NOX emissions impact from 2012 to
2042, short tons*
Equipment class
jlentini on DSKJ8SOYB1PROD with RULES2
Efficiency
level 1
Small gas-fired hot water .........................................................................................
Small gas-fired steam, all except natural draft ........................................................
Small gas-fired steam natural draft .........................................................................
Small oil-fired hot water ...........................................................................................
Small oil-fired steam ................................................................................................
Large gas-fired hot water ........................................................................................
Large gas-fired steam, all except natural draft .......................................................
Large gas-fired steam natural draft .........................................................................
Large oil-fired hot water ...........................................................................................
Large oil-fired steam ................................................................................................
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Efficiency
level 2
(2,141)
6
579
(1,447)
(870)
(1,395)
(2,124)
2,140
(1,276)
(3,716)
E:\FR\FM\22JYR2.SGM
(7,049)
(1,392)
(1,534)
(3,208)
(2,504)
(3,634)
(6,167)
(359)
(2,250)
(10,022)
22JYR2
Efficiency
level 3
(13,715)
(2,907)
(4,110)
(5,365)
(6,413)
(5,978)
(10,278)
(3,585)
(3,201)
(18,743)
Efficiency
level 4
(20,734)
(4,434)
n/a
n/a
n/a
(17,219)
(14,452)
(7,401)
n/a
(38,746)
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TABLE VI.20—SUMMARY OF CUMULATIVE SO2 EMISSIONS IMPACTS FOR COMMERCIAL BOILERS FROM 2012 TO 2042 FOR
ADOPTION OF ANALYZED HIGHER STANDARDS OVER THE ASHRAE STANDARD 90.1–2007 LEVELS
Cumulative national SO2 emissions impacts from 2012 to
2042, short tons*
Equipment class
Efficiency
level 1
Small gas-fired hot water .........................................................................................
Small gas-fired steam, all except natural draft ........................................................
Small gas-fired steam natural draft .........................................................................
Small oil-fired hot water ...........................................................................................
Small oil-fired steam ................................................................................................
Large gas-fired hot water ........................................................................................
Large gas-fired steam, all except natural draft .......................................................
Large gas-fired steam natural draft .........................................................................
Large oil-fired hot water ...........................................................................................
Large oil-fired steam ................................................................................................
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To put the potential monetary benefits
from reduced CO2 emissions into a form
that would likely be most useful to
decision makers and interested parties,
DOE used the same methods it used to
calculate the net present value of
consumer cost savings. DOE converted
the estimated yearly reductions in CO2
emissions into monetary values that
represented the present value, in that
year, of future benefits resulting from
that reduction in emissions, which were
then discounted from that year to the
present using both 3-percent and 7percent discount rates.
In chapter 9 of the TSD, which
accompanied the June 2009 NODA, DOE
proposed to use the range $0 to $20 per
ton for the year 2007 in 2007$. 74 FR
26596. These estimates were originally
derived to represent the lower and
upper bounds of the costs and benefits
likely to be experienced in the United
States and were also used in chapter 9
of the draft TSD for this rulemaking. 74
FR 26596–7 (June 3, 2009). The lower
bound was based on an assumption of
no benefit and the upper bound was
based on an estimate of the mean value
of worldwide impacts due to climate
change that was reported by the
Intergovernmental Panel on Climate
Change (IPCC).19 DOE expected that
19 During the preparation of its review of the state
of climate science, the IPCC identified various
estimates of the present value of reducing CO2
emissions by 1 ton over the life that these emissions
would remain in the atmosphere. The estimates
reviewed by the IPCC spanned a range of values.
Absent a consensus on any single estimate of the
monetary value of CO2 emissions, DOE used the
estimates identified by the study cited in
‘‘Summary for Policymakers,’’ prepared by Working
Group II of the IPCC’s ‘‘Fourth Assessment Report,’’
to estimate the potential monetary value of CO2
reductions likely to result from standards
considered in this rulemaking. According to IPCC,
the mean social cost of carbon (SCC) reported in
studies published in peer-reviewed journals was
$43 per ton of carbon. This translates into about $12
per ton of CO2. The literature review (Tol 2005)
from which this mean was derived did not report
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Efficiency
level 2
0
0
0
(4,543)
(2,731)
0
0
0
(4,005)
(11,667)
0
0
0
(10,072)
(7,863)
0
0
0
(7,064)
(31,469)
Efficiency
level 3
0
0
0
(16,847)
(20,136)
0
0
0
(10,051)
(58,854)
Efficiency
level 4
0
0
n/a
n/a
n/a
0
0
0
n/a
(121,663)
the year in which these dollars were denominated.
However, DOE understands this estimate was for
the year 1995 denominated in 1995$. Updating that
estimate to 2007$ yields a SCC for the year 1995
of $15 per ton of CO2.
economy standard final rule, NHTSA
relied on a range of estimates
representing the uncertainty
surrounding global values of the SCC,
while also encompassing, at the low
end, possible domestic values. These
three values encompass much of the
variability in the estimates of the global
value of the SCC. The lower end of this
range, $2, also approximates possible
mean value for domestic benefits. The
middle of the range, $33, is equal to the
mean value in Tol (2008) and the high
end of the range, $80, represents one
standard deviation above the mean
global value. 74 FR 14196, 14346
(March 30, 2009). The global value of
$33 is based on Tol’s (2008) expanded
and updated survey of 211 estimates of
the global SCC.21 Tol’s 2008 survey
encompasses a larger number of
estimates for the global value of
reducing carbon emissions than its
previously-published counterpart, Tol
(2005), and continues to represent the
only recent, publicly-available
compendium of peer-reviewed estimates
of the SCC that has itself been peerreviewed and published.
The domestic value ($2) was
developed by NHTSA by using the
mean estimate of the global value of
reduced economic damages from
climate change resulting from reducing
CO2 emissions as a starting point;
estimating the fraction of the reduction
in global damages that is likely to be
experienced within the U.S.; and
applying this fraction to the mean
estimate of global benefits from
reducing emissions to obtain an
estimate of the U.S. domestic benefits
from lower GHG emissions. NHTSA
constructed the estimate of the U.S.
domestic benefits from reducing CO2
20 ‘‘Climate Change 2007—Impacts, Adaptation
and Vulnerability.’’ Contribution of Working Group
II to the ‘‘Fourth Assessment Report’’ of the IPCC,
17. Available at https://www.ipcc.ch/ipccreports/ar4wg2.htm (last accessed Aug. 7, 2008).
21 Richard S.J. Tol (2008), The social cost of
carbon: Trends, outliers, and catastrophes,
Economics—the Open-Access, Open-Assessment EJournal, 2 (25), 1–24.
such domestic values would be 10% or
less of comparable global values;
however, there were no consensus
estimates for the U.S. benefits likely to
result from CO2 emission reductions.
Because U.S.-specific estimates were
unavailable, DOE used the global mean
value as an upper bound U.S. value.
Given the uncertainty surrounding
estimates of the social cost of carbon,
DOE previously concluded that relying
on any single estimate may be
inadvisable because that estimate will
depend on many assumptions. Working
Group II’s contribution to the ‘‘Fourth
Assessment Report’’ of the IPCC notes
the following:
The large ranges of SCC are due in the large
part to differences in assumptions regarding
climate sensitivity, response lags, the
treatment of risk and equity, economic and
non-economic impacts, the inclusion of
potentially catastrophic losses, and discount
rates.20
Because of this uncertainty, DOE used
the SCC value from Tol (2005), which
was presented in the IPCC’s ‘‘Fourth
Assessment Report’’ and provided a
comprehensive meta-analysis of
estimates for the value of SCC. 74 FR
16920, 17012 (April 13, 2009).
For today’s final rule, DOE is relying
on an updated range of values
consistent with that presented in the
Model Year 2011 fuel economy standard
final rule issued by the National
Highway Traffic Safety Administration
(NHTSA): $2, $33 and $80 per metric
ton (2007$). In the MY 2011 fuel
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emissions using estimates of U.S.
domestic and global benefits from
reducing greenhouse gas emissions
developed by EPA and reported in
EPA’s Technical Support Document
accompanying its advance notice of
proposed rulemaking on motor vehicle
CO2 emissions.22
A complete discussion of NHTSA’s
analysis is available in Chapter VIII of
the Final Regulatory Analysis of the
Corporate Average Fuel Economy for
MY 2011 Passenger Cars and Light
Trucks (NHTSA, March 2009).
After considering comments and the
currently available information and
analysis, which was reflected in the
approach employed by NHTSA, DOE
concluded that it was appropriate to
consider the global benefits of reducing
CO2 emissions, as well as the domestic
benefits. Consequently, DOE considered
in its decision-process for this final rule
the potential benefits resulting from
reduced CO2 emissions valued at $2,
$33 and $80. The resulting range is
based on current peer-reviewed
estimates of the value of SCC and, DOE
believes, fairly represents the
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22 U.S. EPA, Technical Support Document on
Benefits of Reducing GHG Emissions, June 12, 2008.
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uncertainty surrounding the global
benefits resulting from reduced CO2
emissions and, at the $2 level, also
encompasses the likely domestic
benefits, DOE also concluded, based on
the most recent Tol analysis, that it was
appropriate to escalate these values at
3% per year to represent the expected
increases, over time, of the benefits
associated with reducing CO2 and other
greenhouse gas emissions.
DOE also investigated the potential
monetary benefit of reduced NOX, and
SO2, emissions from the TSLs it
considered. As previously stated DOE
estimated the monetized value of NOX
emissions reductions resulting from
each of the TSLs considered for today’s
final rule based on environmental
damage estimates from the literature.
Available estimates suggest a very wide
range of monetary values for NOX
emissions, ranging from $370 per ton to
$3,800 per ton of NOX from stationary
sources, measured in 2001$ (equivalent
to a range of $432 to $4,441 per ton in
2007$ ($443 to $4,546 in 2008$). DOE
estimated a low end monetary value for
SO2 emissions based on an SO2 trading
price as developed in the National
Energy Modeling System (NEMS)
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electricity market model for the western
and eastern U.S. DOE used a simple
average of the trading prices from the
eastern and western electricity market
models for the period from 2012–2030,
and extrapolated the prices out through
2042. These range in SO2 costs from this
source varied both by year and region
from $86 to $1,012 per ton in 2007$
($89 to $1,037 in 2008$). For an upper
range estimated DOE used an estimate
of environmental damage costs of
$7,300 per ton of SO2 from stationary
sources, measured in 2001$ or $8,542
per ton in 2007$ ($8,733 in 2008$).
These low and high values for the value
of emissions for CO2, NOX, and SO2
were in turn multiplied by the annual
emissions of each pollutant for the
period from 2012–2042, and the
monetary values were converted to
present value using three and seven
percent discount rates.
Table VI.21 through Table VI.22
shows the resulting estimates of the
potential range of present value benefits
associated with the reduced CO2, NOx,
and SO2 emissions for each class of
commercial boiler for adoption of the
ASHRAE 90.1–2007 efficiency levels.
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the potential range of present value
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benefits associated with the reduction of
each emission for adoption of efficiency
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C. Amended Energy Conservation
Standards for Commercial Packaged
Boilers
EPCA specifies that, for any
commercial and industrial equipment
addressed in section 342(a)(6)(A)(i) of
EPCA, DOE may prescribe an energy
conservation standard more stringent
than the level for such equipment in
ASHRAE/IESNA Standard 90.1, as
amended, only if ‘‘clear and convincing
evidence’’ shows that a more-stringent
standard ‘‘would result in significant
additional conservation of energy and is
technologically feasible and
economically justified.’’ (42 U.S.C.
6313(a)(6)(A)(ii)(II))
In evaluating more-stringent
efficiency levels for commercial
packaged boilers than those specified by
ASHRAE Standard 90.1–2007, DOE
reviewed the results in terms of their
technological feasibility, economic
justification, and significance of energy
savings.
DOE first examined the potential
energy savings that would result from
the efficiency levels specified in
ASHRAE Standard 90.1–2007 and
compared that to the potential energy
savings that would result from
proposing efficiency levels more
stringent than those in ASHRAE
Standard 90.1–2007 as Federal energy
conservation standards. All of the
efficiency levels examined by DOE
resulted in cumulative energy savings,
including the efficiency levels in
ASHRAE Standard 90.1–2007. DOE
estimates that a total of 0.11 quads of
energy will be saved if DOE adopts the
efficiency levels for each commercial
boiler equipment class specified in
ASHRAE Standard 90.1–2007. If DOE
were to propose efficiency levels more
stringent than those specified by
ASHRAE Standard 90.1–2007 as Federal
minimum standards, the potential
additional energy savings ranges from
0.11 quads to 1.12 quads. Associated
with proposing more-stringent
efficiency levels is a two-year delay in
implementation compared to the
adoption of energy conservation
standards at the level specified in
ASHRAE Standard 90.1–2007 (see
section V.H.1). This two-year delay in
implementation of amended energy
conservation standards would result in
a small amount of energy savings being
lost in the first two years (2012 and
2013) compared to the savings from
adopting the levels in ASHRAE
Standard 90.1–2007; however, this
energy savings may be compensated for
by increased savings from higher
standards in later years.
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In addition to energy savings, DOE
also examined the economic
justification of proposing efficiency
levels more stringent than those
specified in ASHRAE Standard 90.1–
2007. As shown in section VI.B.1,
higher efficiency levels result in a
positive mean LCC savings for some
commercial packaged boiler equipment
classes. For example, in the largest
commercial packaged boiler equipment
class (i.e., small, gas-fired hot water
boilers), the mean LCC impact ranges
from $1,700 LCC savings to a mean LCC
cost of $4,760 for efficiency level 1
through efficiency level 4 respectively.
The total installed cost increases range
from $3,364 to $14,323 for efficiency
level 1 through efficiency level 4 when
compared to the baseline. Overall, there
would be a wide range of commercial
customer LCC impacts based on climate,
hydronic system operating temperature,
and installation costs, which might
place a significant burden on some
commercial customers.
In general, there is a large range in the
total installed cost of different types of
commercial boiler equipment, leading to
a high variance and uncertainty in the
economic analyses. Many factors affect
the cost of a commercial boiler,
including the type of commercial
packaged boilers, the material of the
heat exchanger being used, and the
overall design. In addition, the
installation costs of boilers vary greatly
depending on the efficiency, the
location of the boiler, and the venting
system. In more efficient boilers, the
flue must be made out of corrosionresistant materials to prevent the
possibility of corrosion caused due to
condensing flue gases. Because the
mean LCC savings can be considered
small in comparison to the total
installed cost of the equipment, a
relatively minor change in the
differential installed cost estimate could
negate the mean LCC savings realized by
proposing more-stringent efficiency
levels as Federal minimum standards
for commercial packaged boilers.
After examining the potential energy
savings and the economic justification
of proposing efficiency levels more
stringent than those specified in
ASHRAE Standard 90.1–2007, DOE
believes there are several other factors it
should consider before proposing
amended energy conservation standards
for commercial packaged boilers.
First, DOE reexamined the certainty
in its analysis of commercial packaged
boilers. Due to current test procedure
requirements, which are based on
combustion, rather than thermal
efficiency, not all manufacturers test for
the thermal efficiency of their
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36349
commercial boiler models, nor do they
all report it to the I=B=R Directory or in
manufacturers’ catalogs. Some
manufacturers simply do not report
thermal efficiency, and of those
manufacturers that do report thermal
efficiency, some may estimate the
thermal efficiency ratings of their
equipment, rather than actually test for
the thermal efficiency of their
equipment. DOE has no way to
determine which thermal efficiency
ratings are the result of estimation and
which are the result of actual testing.
Further, in the case of manufacturers
that do test for thermal efficiency,
variances in testing facilities and
equipment can lead to inconsistent
results in the thermal efficiency testing
among the manufacturers. The
combination of these factors leads to
concerns about the viability of using the
data from the I=B=R Directory and
manufacturers’ catalogs as the source for
thermal efficiency ratings for the basis
of this analysis. Such concerns are
heightened the further one moves away
from the consensus efficiency levels in
ASHRAE Standard 90.1–2007 in the
context of this standard-setting
rulemaking.
Because ASHRAE Standard 90.1–2007
has switched to a thermal efficiency
metric for certain commercial packaged
boiler equipment classes, a one-time
conversion in the DOE efficiency metric
will be required at some point. The
transition to a thermal efficiency metric
will require manufacturers to test for
and report thermal efficiency for 8 out
of 10 commercial boiler equipment
classes. This would mitigate the
problem of uncertainty in the thermal
efficiency ratings for those equipment
classes, allowing DOE to be able to make
more definitive comparisons with future
versions of ASHRAE Standard 90.1.
DOE believes that an earlier transition to
a rated thermal efficiency across the
industry will provide additional, nearterm benefits covering the entire
industry that are not captured in the
DOE analysis presented. These benefits
may include more rapid exposure of
purchasers to the rated thermal
efficiency of competing products, which
lays the groundwork for assessing the
benefits of one boiler against another in
the marketplace and will create greater
competition among manufacturers to
provide customers with additional
purchasing choices. DOE has no
information with which to calculate this
benefit.
Second, DOE notes the efficiency
levels in ASHRAE Standard 90.1–2007
are part of a consensus agreement
between the trade association
representing the manufacturers and
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several energy-efficiency advocacy
groups. DOE strongly encourages
stakeholders to work together to propose
agreements to DOE. When DOE receives
a consensus agreement, DOE takes
careful consideration to review the
agreement resulting from groups that
commonly have conflicting goals. DOE
also points out that the Joint Letter
submitted by AHRI, ACEEE, ASAP,
ASE, and NRDC urged DOE to adopt as
Federal minimum energy conservation
standards the efficiency levels in
ASHRAE Standard 90.1–2007 for
commercial packaged boilers. (The Joint
Letter, No. 5 at p. 1) DOE believes this
negotiated agreement was made in good
faith, and DOE is hesitant to second
guess the outcome based on a limited
analysis with many uncertainties. DOE
presented these efficiency levels for
public comment and, as discussed
earlier, commenters supported the
adoption of these levels.
Third, DOE has not assessed any
likely change in the efficiencies of
models currently on the boiler market in
the absence of setting more-stringent
standards. DOE recognizes that
manufacturers would continue to make
future improvements in the boiler
efficiencies even in the absence of
mandated energy conservation
standards. Such ongoing technological
developments could have a
disproportionately larger impact on the
analytical results for the more-stringent
efficiency levels analyzed in terms of
reduced energy benefits as compared to
the ASHRAE Standard 90.1–2007
efficiency level scenario. When
manufacturers introduce a new product
line, they typically introduce higherefficiency models, while maintaining
their baseline product offering (i.e.,
equipment at the ASHRAE Standard
90.1–2007 efficiency levels). Any
introduction of higher-efficiency
equipment and subsequent purchase by
commercial customers, who usually buy
higher-efficiency equipment, could
reduce the energy savings benefits of
more-stringent efficiency levels.
Fourth, DOE believes there could be
a possible difference in life expectancy
between the commercial packaged
boilers at the ASHRAE Standard 90.1–
2007 efficiency levels and those at
more-stringent efficiency levels,
including condensing boilers. DOE did
not have any information to quantify
these differences and did not receive
any additional comments from
interested parties regarding these
potential differences in expected
lifetime in response to the March 2009
NOPR.
Finally, DOE also recognizes that
commercial packaged boilers are one
component in a hydronic system.
Unlike most of the other residential
appliances and commercial equipment
for which DOE mandates energy
conservation standards, the design and
operation of that hydronic system (i.e.,
the hot-water distribution system) can
result in significant variances in the
annual field efficiencies of the
commercial packaged boilers compared
to the rated efficiency levels of these
units. DOE recognizes that as a result, a
critical piece of information needed to
ensure that the benefits of high nominal
efficiency commercial packaged boilers
are actually achieved in the field is not
captured in the DOE analysis.
After weighing the benefits and
burdens of adopting the ASHRAE
Standard 90.1–2007 efficiency levels as
Federal standards for commercial
packaged boilers as compared to those
for proposing more-stringent efficiency
levels, DOE is adopting the efficiency
levels in ASHRAE 90.1–2007 as
amended energy conservation standards
for all ten commercial packaged boilers
equipment classes. DOE must have
‘‘clear and convincing’’ evidence to
adopt efficiency levels more stringent
than those specified in ASHRAE 90.1–
2007, and for the reasons explained in
this notice, the totality of information
does not meet the ‘‘clear and
convincing’’ standard that would justify
more stringent efficiency levels. Given
the relatively small mean LCC savings
(in comparison to the total installed
cost), even a slight alteration in DOE’s
installation estimates could result in the
potential for negative mean LCC
savings. In addition, the uncertainty of
the thermal efficiency values reported
may have resulted in an imprecise
estimate of the efficiency of some
equipment, leading to even greater
uncertainty in the economic benefits of
more-stringent standards.
DOE recognizes that the thermal
efficiency metric is superior to the
combustion efficiency metric because
thermal efficiency is a more complete
measure of boiler efficiency than the
combustion efficiency metric (thermal
efficiency accounts for jacket losses and
combustion efficiency does not). DOE
believes that once commercial packaged
boilers are transitioned from the
combustion efficiency metric to the
thermal efficiency metric, the thermal
efficiency ratings of certified equipment
will be more accurate and consistent.
The efficiency levels in ASHRAE
Standard 90.1–2007 are an acceptable
foundation that will allow the
commercial boiler industry to begin the
transition from using combustion
efficiency to a thermal efficiency metric.
DOE also takes into account the
consensus nature of the efficiency levels
in ASHRAE Standard 90.1–2007 for
commercial packaged boilers.
Therefore, based on the discussion
above, DOE has concluded that the
efficiency levels beyond those in
ASHRAE Standard 90.1–2007 for
commercial packaged boilers are not
economically justified and is adopting
as Federal minimum standards the
efficiency levels in ASHRAE Standard
90.1–2007 for all ten equipment classes
of commercial packaged boilers. Table
VI.27 shows the amended energy
conservation standards for commercial
packaged boilers.
TABLE VI.27—AMENDED ENERGY CONSERVATION STANDARDS FOR COMMERCIAL PACKAGED BOILERS *
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Equipment type
Subcategory
Size category (input)
Hot Water Commercial Packaged Boilers ..
Hot Water Commercial Packaged Boilers ..
Hot Water Commercial Packaged Boilers ..
Hot Water Commercial Packaged Boilers ..
Steam Commercial Packaged Boilers ........
Steam Commercial Packaged Boilers ........
Steam Commercial Packaged Boilers ........
Gas-fired ...................................................
Gas-fired ...................................................
Oil-fired .....................................................
Oil-fired .....................................................
Gas-fired—all, except natural draft ...........
Gas-fired—all, except natural draft ...........
Gas-fired—natural draft ............................
≥300,000 Btu/h and ≤2,500,000 Btu/h .....
>2,500,000 Btu/h ......................................
≥300,000 Btu/h and ≤2,500,000 Btu/h .....
>2,500,000 Btu/h ......................................
≥300,000 Btu/h and ≤2,500,000 Btu/h .....
>2,500,000 Btu/h ......................................
≥300,000 Btu/h and ≤2,500,000 Btu/h .....
Steam Commercial Packaged Boilers ........
Gas-fired—natural draft ............................
>2,500,000 Btu/h ......................................
Steam Commercial Packaged Boilers ........
Oil-fired .....................................................
≥300,000 Btu/h and ≤2,500,000 Btu/h .....
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Efficiency
level **
80%
82%
82%
84%
79%
79%
77%
79%
77%
79%
81%
ET
EC
ET
EC
ET
ET
ET
ET
ET
ET
ET
Federal Register / Vol. 74, No. 139 / Wednesday, July 22, 2009 / Rules and Regulations
36351
TABLE VI.27—AMENDED ENERGY CONSERVATION STANDARDS FOR COMMERCIAL PACKAGED BOILERS *—Continued
Equipment type
Subcategory
Size category (input)
Steam Commercial Packaged Boilers ........
Oil-fired .....................................................
>2,500,000 Btu/h ......................................
Efficiency
level **
81% ET
* ET is the thermal efficiency and EC is the combustion efficiency.
** The effective date for the amended energy conservation standards is March 2, 2012. Where the table indicates a two-tier efficiency level, the
second efficiency level is effective March 2, 2022.
760,000 Btu/h by adopting the
efficiency levels specified by ASHRAE
Standard 90.1–2007. DOE did not
analyze the economic and energy
savings potential of amended national
energy conservation standards for watercooled and evaporatively-cooled
commercial package air conditioners
and heat pumps with a cooling capacity
at or above 240,000 Btu/h and less than
760,000 Btu/h for the efficiency levels
in ASHRAE Standard 90.1–2007 or
efficiency levels beyond those specified
in ASHRAE Standard 90.1, because
there is no equipment currently being
manufactured in this equipment class.23
74 FR 12013. Table VI.28 shows the
amended energy conservation standards
for this equipment. The standards for
water-cooled and evaporatively-cooled
commercial package air conditioners
and heat pumps with a cooling capacity
at or above 240,000 Btu/h and less than
760,000 Btu/h established in this final
rule will apply starting on January 10,
2011.
VII. Procedural Issues and Regulatory
Review
B. Review Under the National
Environmental Policy Act
A. Review Under Executive Order 12866
DOE prepared an environmental
assessment (EA) of the impacts of the
proposed standards in the March 2009
NOPR pursuant to the National
Environmental Policy Act of 1969 (42
U.S.C. 4321 et seq.), the regulations of
the Council on Environmental Quality
(40 CFR parts 1500–1508), and DOE’s
regulations for compliance with the
National Environmental Policy Act (10
CFR part 1021). 74 FR 26596. This
assessment included a concise
examination of the impacts of emission
reductions likely to result from the rule.
DOE found the environmental effects
associated with today’s various standard
levels for commercial packaged boilers
and water-cooled and evaporativelycooled commercial package air
conditioners and heat pumps with a
cooling capacity at or above 240,000
Btu/h and less than 760,000 Btu/h to be
not significant, and therefore it is
issuing a Finding of No Significant
Impact (FONSI) pursuant to the
National Environmental Policy Act of
1969 (42 U.S.C. 4321 et seq.), the
regulations of the Council on
Environmental Quality (40 CFR parts
1500–1508), and DOE’s regulations for
compliance with the National
Environmental Policy Act (10 CFR part
Today’s final rule has been
determined not to be a ‘‘significant
regulatory action’’ under section 3(f)(1)
of Executive Order 12866, ‘‘Regulatory
Planning and Review.’’ 58 FR 51735
(Oct. 4, 1993). Accordingly, this action
was not subject to review under that
Executive Order by the Office of
Information and Regulatory Affairs
(OIRA) of the Office of Management and
Budget.
23 ASHRAE Standard 90.1–2007 specified
efficiency levels for water-cooled and
evaporatively-cooled commercial package air
conditioners and heat pumps with a cooling
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capacity at or above 240,000 Btu/h and less than
760,000 Btu/h even though equipment does not
exist in the current marketplace in this category.
ASHRAE’s actions for this equipment triggered DOE
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action regardless of whether equipment is currently
offered for sale.
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D. Amended Energy Conservation
Standards for Water-Cooled and
Evaporatively-Cooled Commercial
Package Air Conditioners and Heat
Pumps With a Cooling Capacity at or
Above 240,000 Btu/h and Less Than
760,000 Btu/h
DOE is adopting new energy
conservation standards for water-cooled
and evaporatively-cooled commercial
package air conditioners and heat
pumps with a cooling capacity at or
above 240,000 Btu/h and less than
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Federal Register / Vol. 74, No. 139 / Wednesday, July 22, 2009 / Rules and Regulations
1021). The FONSI is available in the
docket for this rulemaking.
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C. Review Under the Regulatory
Flexibility Act
The Regulatory Flexibility Act (5
U.S.C. 601 et seq.) requires preparation
of an initial regulatory flexibility
analysis for any rule that by law must
be proposed for public comment, unless
the agency certifies that the rule, if
promulgated, will not have a significant
economic impact on a substantial
number of small entities. As required by
Executive Order 13272, ‘‘Proper
Consideration of Small Entities in
Agency Rulemaking,’’ 67 FR 53461
(August 16, 2002), DOE published
procedures and policies on February 19,
2003, to ensure that the potential
impacts of its rules on small entities are
properly considered during the DOE
rulemaking process. 68 FR 7990. DOE
has made its procedures and policies
available on the Office of the General
Counsel’s Web site: https://
www.gc.doe.gov.
DOE reviewed the March 2009 NOPR
under the provisions of the Regulatory
Flexibility Act and the policies and
procedures published on February 19,
2003 (68 FR 7990). 74 FR 12044. As part
of this rulemaking, DOE examined the
existing compliance costs manufacturers
already bear and compared them to the
revised compliance costs, based on the
proposed revisions to the test
procedure. Since DOE is adopting the
efficiency levels in ASHRAE Standard
90.1–2007, which are part of the
prevailing industry standard and the
result of a consensus agreement, DOE
believes that commercial packaged
boiler manufacturers are already
producing equipment at these efficiency
levels. For water-cooled and
evaporatively-cooled commercial
package air conditioners and heat
pumps with a cooling capacity at or
above 240,000 Btu/h and less than
760,000 Btu/h, DOE believes the
efficiency levels being adopted are also
part of the prevailing industry standard
and that manufacturers would
experience no impacts, because no such
equipment is currently manufactured.
Furthermore, DOE believes the industry
standard was developed through a
process, which would attempt to
mitigate the impacts on manufacturers,
including any small commercial
packaged boiler manufacturers, while
increasing the efficiency of this
equipment. In addition, DOE does not
find that the costs imposed by the
revisions proposed to the test procedure
for commercial packaged boilers in this
document would result in any
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significant increase in testing or
compliance costs.
DOE received no comments in
response to the NOPR. For the reasons
stated above, DOE certifies that the final
rule would not have a significant
economic impact on a substantial
number of small entities. Therefore,
DOE did not prepare an initial
regulatory flexibility analysis for the
proposed rule.
D. Review Under the Paperwork
Reduction Act
Under the Paperwork Reduction Act
of 1995 (44 U.S.C. 3501 et seq.) (PRA),
a person is not required to respond to
a collection of information by a Federal
agency, including a requirement to
maintain records, unless the collection
displays a valid OMB control number.
(44 U.S.C. 3506(c)(1)(B)(iii)(V)) DOE
stated in the March 2009 NOPR that this
rulemaking would impose no new
information and recordkeeping
requirements, and that OMB clearance
is not required under the Paperwork
Reduction Act (44 U.S.C. 3501 et seq.).
74 FR 12044. DOE received no
comments on this in response to the
NOPR and, as with the proposed rule,
today’s final rule imposes no
information and recordkeeping
requirements. DOE takes no further
action in this rulemaking with respect to
the Paperwork Reduction Act.
E. Review Under the Unfunded
Mandates Reform Act of 1995
As described in the March 2009
NOPR, DOE reviewed this regulatory
action under Title II of the Unfunded
Mandates Reform Act of 1995 (UMRA)
(Pub. L. 104–4), which requires each
Federal agency to assess the effects of
Federal regulatory actions on State,
local, and Tribal governments and the
private sector. For proposed regulatory
actions likely to result in a rule that may
cause expenditures by State, local, and
Tribal governments, in the aggregate, or
by the private sector of $100 million or
more in any one year (adjusted annually
for inflation), section 202 of UMRA
requires a Federal agency to publish a
written statement assessing the resulting
costs, benefits, and other effects of the
rule on the national economy (2 U.S.C.
1532(a) and (b)). Section 204 of UMRA
requires a Federal agency to develop an
effective process to permit timely input
by elected officers of State, local, and
Tribal governments on a proposed
‘‘significant intergovernmental
mandate.’’ (2 U.S.C. 1534) Section 203
of UMRA requires an agency plan for
giving notice and opportunity for timely
input to potentially affected small
governments that may be affected before
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establishing any requirements that
might significantly or uniquely affect
small governments. (2 U.S.C. 1533) On
March 18, 1997, DOE published a
statement of policy on its process for
intergovernmental consultation under
UMRA (62 FR 12820) (also available at:
https://www.gc.doe.gov).
DOE concluded that the March 2009
NOPR contained neither an
intergovernmental mandate nor a
mandate that may result in the
expenditure by State, local, and Tribal
governments in the aggregate, or by the
private sector, of $100 million or more
in any year. 74 FR 12045. Accordingly,
no assessment or analysis was required
under UMRA. Id. DOE received no
comments concerning the UMRA in
response to the NOPR, and its
conclusions on this issue are the same
for the final rule as for the March 2009
NOPR. DOE takes no further action in
today’s final rule with respect to the
UMRA.
F. Review Under the Treasury and
General Government Appropriations
Act, 1999
Section 654 of the Treasury and
General Government Appropriations
Act, 1999 (Pub. L. 105–277) requires
Federal agencies to issue a Family
Policymaking Assessment for any
proposed rule that may affect family
well-being. As stated in the March 2009
NOPR, DOE decided this rule would not
have any impact on the autonomy or
integrity of the family as an institution.
74 FR 12045. Accordingly, DOE
concluded that it was unnecessary to
prepare a Family Policymaking
Assessment. Id. DOE received no
comments concerning Section 654 in
response to the NOPR, and thus takes no
further action in today’s final rule with
respect to this provision.
G. Review Under Executive Order 13132
Executive Order 13132, ‘‘Federalism,’’
64 FR 43255 (August 4, 1999) imposes
certain requirements on agencies
formulating and implementing policies
or regulations that preempt State law or
that have Federalism implications.
Agencies are required to examine the
constitutional and statutory authority
supporting any action that would limit
the policymaking discretion of the
States and to carefully assess the
necessity for such actions. The
Executive Order also requires agencies
to have an accountable process to
ensure meaningful and timely input by
State and local officials in the
development of regulatory policies that
have Federalism implications. On
March 14, 2000, DOE published a
statement of policy describing the
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intergovernmental consultation process
it will follow in the development of
such regulations. 65 FR 13735. As
explained in the March 2009 NOPR,
DOE examined this proposed rule and
determined that it would not have a
substantial direct effect on the States, on
the relationship between the national
government and the States, or on the
distribution of power and
responsibilities among the various
levels of government. 74 FR 12045.
EPCA governs and prescribes Federal
preemption of State regulations as to
energy conservation for the equipment
that are the subject of today’s final rule.
States can petition DOE for exemption
from such preemption to the extent, and
based on criteria, as set forth in EPCA.
(42 U.S.C. 6297(d) and 6316(b)(2)(D)) No
further action is required by Executive
Order 13132.
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H. Review Under Executive Order 12988
With respect to the review of existing
regulations and the promulgation of
new regulations, section 3(a) of
Executive Order 12988, ‘‘Civil Justice
Reform’’ (61 FR 4729 (Feb. 7, 1996))
imposes on Federal agencies the general
duty to adhere to the following
requirements: (1) Eliminate drafting
errors and ambiguity; (2) write
regulations to minimize litigation; (3)
provide a clear legal standard for
affected conduct rather than a general
standard and promote simplification
and burden reduction. With regard to
the review required by section 3(a),
section 3(b) of Executive Order 12988
specifically requires that Executive
agencies make every reasonable effort to
ensure that the regulation (1) clearly
specifies the preemptive effect, if any;
(2) clearly specifies any effect on
existing Federal law or regulation; (3)
provides a clear legal standard for
affected conduct while promoting
simplification and burden reduction; (4)
specifies the retroactive effect, if any; (5)
adequately defines key terms; and (6)
addresses other important issues
affecting clarity and general
draftsmanship under any guidelines
issued by the Attorney General. Section
3(c) of Executive Order 12988 requires
Executive agencies to review regulations
in light of applicable standards in
sections 3(a) and 3(b) to determine
whether they are met or it is
unreasonable to meet one or more of
them. DOE has completed the required
review and determined that, to the
extent permitted by law, the final rule
meets the relevant standards of
Executive Order 12988.
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Jkt 217001
I. Review Under the Treasury and
General Government Appropriations
Act, 2001
Section 515 of the Treasury and
General Government Appropriations
Act, 2001 (44 U.S.C. 3516 note) provides
for agencies to review most
disseminations of information to the
public under guidelines established by
each agency pursuant to general
guidelines issued by OMB. OMB’s
guidelines were published at 67 FR
8452 (Feb. 22, 2002), and DOE’s
guidelines were published at 67 FR
62446 (Oct. 7, 2002). DOE has reviewed
this notice under the OMB and DOE
guidelines and has concluded that it is
consistent with applicable policies in
those guidelines.
J. Review Under Executive Order 13211
Executive Order 13211, ‘‘Actions
Concerning Regulations That
Significantly Affect Energy Supply,
Distribution, or Use,’’ 66 FR 28355 (May
22, 2001) requires Federal agencies to
prepare and submit to OMB, a
Statement of Energy Effects for any
proposed significant energy action. A
‘‘significant energy action’’ is defined as
any action by an agency that
promulgated or is expected to lead to
promulgation of a final rule, and that:
(1) is a significant regulatory action
under Executive Order 12866, or any
successor order; and (2) is likely to have
a significant adverse effect on the
supply, distribution, or use of energy; or
(3) is designated by the Administrator of
OIRA as a significant energy action. For
any proposed significant energy action,
the agency must give a detailed
statement of any adverse effects on
energy supply, distribution, or use
should the proposal be implemented,
and of reasonable alternatives to the
action and their expected benefits on
energy supply, distribution, and use.
DOE determined the proposed rule
would not have a significant adverse
effect on the supply, distribution, or use
of energy, and, therefore, is not a
significant energy action. 74 FR 12045.
Furthermore, this regulatory action has
not been designated as a significant
energy action by the Administrator or of
OIRA. Accordingly, DOE has not
prepared a Statement of Energy Effects.
Id. DOE received no comments on this
issue in response to the March 2009
NOPR. As with the proposed rule, DOE
has concluded that today’s final rule is
not a significant energy action within
the meaning of Executive Order 13211,
and has not prepared a Statement of
Energy Effects on the rule.
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36353
K. Review Under Executive Order 12630
Pursuant to Executive Order 12630,
‘‘Governmental Actions and Interference
with Constitutionally Protected Property
Rights,’’ 53 FR 8859 (March 15, 1988),
DOE has determined that this rule
would not result in any takings that
might require compensation under the
Fifth Amendment to the United States
Constitution.
L. Review Under Section 32 of the
Federal Energy Administration Act of
1974
Under section 301 of the Department
of Energy Organization Act (Pub. L. 95–
91), the Department of Energy must
comply with section 32 of the Federal
Energy Administration Act of 1974
(Pub. L. 93–275), as amended by the
Federal Energy Administration
Authorization Act of 1977 (Pub. L. 95–
70). (15 U.S.C. 788) Section 32 provides
that where a proposed rule authorizes or
requires use of commercial standards,
the notice of proposed rulemaking must
inform the public of the use and
background of such standards. In
addition, section 32(c) requires DOE to
consult with the Department of Justice
and the Federal Trade Commission
(FTC) concerning the impact of the
commercial or industry standards on
competition.
Certain amendments and revisions in
this final rule incorporate updates to
commercial standards already codified
in DOE’s test procedure regulations in
the CFR. As stated in the March 2009
NOPR, DOE has evaluated these
updated standards and is unable to
conclude whether they fully comply
with the requirements of section 32(b) of
the Federal Energy Administration Act,
(i.e., determine that they were
developed in a manner that fully
provides for public participation,
comment, and review). 74 FR 12046.
DOE has consulted with the Attorney
General and the Chairman of the FTC
concerning the impact of these
standards on competition, and neither
recommended against their
incorporation.
M. Review Under the Information
Quality Bulletin for Peer Review
On December 16, 2004, OMB in
consultation with the Office of Science
and Technology Policy (OSTP), issued
its ‘‘Final Information Quality Bulletin
for Peer Review’’ (Bulletin). 70 FR 2664
(Jan. 14, 2005). The Bulletin establishes
that certain scientific information shall
be peer reviewed by qualified specialists
before it is disseminated by the Federal
government, including influential
scientific information related to agency
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regulatory actions. The purpose of the
bulletin is to enhance the quality and
credibility of the Government’s
scientific information. Under the
Bulletin, the energy conservation
standards rulemakings analyses are
‘‘influential scientific information.’’ The
Bulletin defines ‘‘influential scientific
information’’ as ‘‘scientific information
the agency reasonably can determine
will have or does have a clear and
substantial impact on important public
policies or private sector decisions.’’ 70
FR 2664, 2667 (Jan. 14, 2005).
In response to OMB’s Bulletin, DOE
conducted formal peer reviews of the
energy conservation standards
development process and analyses, and
then prepared a Peer Review Report
pertaining to the energy conservation
standards rulemaking analyses.
Generation of this report involved a
rigorous, formal, and documented
evaluation process using objective
criteria and qualified and independent
reviewers to make a judgment as to the
technical/scientific/business merit, the
actual or anticipated results, and the
productivity and management
effectiveness of programs and/or
projects. The ‘‘Energy Conservation
Standards Rulemaking Peer Review
Report,’’ dated February 2007, has been
disseminated and is available at https://
www.eere.energy.gov/buildings/
appliance_standards/peer_review.html.
N. Congressional Notification
As required by 5 U.S.C. 801, DOE will
submit to Congress a report regarding
the issuance of today’s final rule prior
to the effective date set forth at the
outset of this notice. The report will
state that it has been determined that
the rule is a ‘‘major rule’’ as defined by
5 U.S.C. 804(2). DOE also will submit
the supporting analyses to the
Comptroller General in the U.S.
Government Accountability Office
(GAO) and make them available to
Congress.
VIII. Approval of the Office of the
Secretary
The Secretary of Energy has approved
publication of this final rule.
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List of Subjects in 10 CFR Part 431
Administrative practice and
procedure, Confidential business
information, Energy conservation,
Incorporation by reference, and
Reporting and recordkeeping
requirements.
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18:17 Jul 21, 2009
Jkt 217001
Issued in Washington, DC, on July 8, 2009.
Cathy Zoi,
Assistant Secretary, Energy Efficiency and
Renewable Energy.
For the reasons set forth in the
preamble, DOE is amending Chapter II
of Title 10, Code of Federal Regulations,
Part 431 to read as set forth below:
■
PART 431—ENERGY EFFICIENCY
PROGRAM FOR CERTAIN
COMMERCIAL AND INDUSTRIAL
EQUIPMENT
1. The authority citation for part 431
continues to read as follows:
■
Authority: 42 U.S.C. 6291–6317.
2. In § 431.82, revise the definition
‘‘combustion efficiency’’ and add
definitions for ‘‘Btu/h or Btu/hr’’ and
‘‘thermal efficiency,’’ in alphabetical
order to read as follows:
■
§ 431.82 Definitions concerning
commercial packaged boilers.
*
*
*
*
*
Btu/h or Btu/hr means British thermal
units per hour.
Combustion efficiency for a
commercial packaged boiler is
determined using test procedures
prescribed under § 431.86 and is equal
to 100 percent minus percent flue loss
(percent flue loss is based on input fuel
energy).
*
*
*
*
*
Thermal efficiency for a commercial
packaged boiler is determined using test
procedures prescribed under § 431.86
and is the ratio of the heat absorbed by
the water or the water and steam to the
higher heating value in the fuel burned.
■ 3. Revise § 431.85 to read as follows:
§ 431.85 Materials incorporated by
reference.
(a) General. We incorporate by
reference the following standards into
Subpart E of Part 431. The material
listed has been approved for
incorporation by reference by the
Director of the Federal Register in
accordance with 5 U.S.C. 552(a) and 1
CFR part 51. Any subsequent
amendment to a standard by the
standard-setting organization will not
affect the DOE regulations unless and
until amended by DOE. Material is
incorporated as it exists on the date of
the approval and a notice of any change
in the material will be published in the
Federal Register. All approved material
is available for inspection at the
National Archives and Records
Administration (NARA). For
information on the availability of this
material at NARA, call 202–741–6030 or
go to https://www.archives.gov/
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federal_register/
code_of_federal_regulations/
ibr_locations.html. Also, this material is
available for inspection at U.S.
Department of Energy, Office of Energy
Efficiency and Renewable Energy,
Building Technologies Program, 6th
Floor, 950 L’Enfant Plaza, SW.,
Washington, DC 20024, 202–586–2945,
or go to: https://www1.eere.energy.gov/
buildings/appliance_standards/.
Standards can be obtained from the
sources listed below.
(b) HI. The Gas Appliance
Manufacturers Association (GAMA)
merged in 2008 with the AirConditioning and Refrigeration Institute
to become the Air-Conditioning,
Heating, and Refrigeration Institute
(AHRI). The Hydronics Institute BTS–
2000 Testing Standard can be obtained
from AHRI. For information on how to
obtain this material, contact the
Hydronics Institute Section of AHRI,
P.O. Box 218, Berkeley Heights, NJ
07922–0218, (866) 408–3831, or go to:
https://www.ahrinet.org/Content/
OrderaStandard_573.aspx.
(1) The Hydronics Institute Division
of GAMA BTS–2000 Testing Standard,
(‘‘HI BTS–2000, Rev 06.07’’), Method to
Determine Efficiency of Commercial
Space Heating Boilers, Second Edition
(Rev 06.07), 2007, IBR approved for
§ 431.86.
(2) [Reserved].
■ 4. Revise § 431.86, to read as follows:
§ 431.86 Uniform test method for the
measurement of energy efficiency of
commercial packaged boilers.
(a) Scope. This section provides test
procedures that must be followed for
measuring, pursuant to EPCA, the
steady state combustion efficiency and
thermal efficiency of a gas-fired or oilfired commercial packaged boiler. These
test procedures apply to packaged low
pressure boilers that have rated input
capacities of 300,000 Btu/h or more and
are ‘‘commercial packaged boilers,’’ but
do not apply under EPCA to ‘‘packaged
high pressure boilers.’’
(b) Definitions. For purposes of this
section, the Department incorporates by
reference the definitions specified in
Section 3.0 of the HI BTS–2000, Rev
06.07 (incorporated by reference, see
§ 431.85), with the exception of the
definition for the terms ‘‘packaged
boiler,’’ ‘‘condensing boilers,’’ and
‘‘packaged low pressure steam’’ and
‘‘hot water boiler.’’
(c) Test Method for Commercial
Packaged Boilers—General. Follow the
provisions in this paragraph (c) for all
testing of packaged low pressure boilers
that are commercial packaged boilers.
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(1) Test Setup—(i) Classifications: If
employing boiler classification, you
must classify boilers as given in Section
4.0 of the HI BTS–2000, Rev 06.07
(incorporated by reference, see
§ 431.85).
(ii) Requirements: (A) Before March 2,
2012, conduct the combustion efficiency
test as given in Section 5.2 (Combustion
Efficiency Test) of the HI BTS–2000,
Rev 06.07 (incorporated by reference,
see § 431.85) for all commercial
packaged boiler equipment classes.
(B) On or after March 2, 2012, conduct
the thermal efficiency test as given in
Section 5.1 (Thermal Efficiency Test) of
the HI BTS–2000, Rev 06.07
(incorporated by reference, see § 431.85)
for the following commercial packaged
boiler equipment classes: Small, gas, hot
water; small, gas, steam, all except
natural draft; small, gas, steam, natural
draft; small, oil, hot water; small, oil,
steam; large, gas, steam, all except
natural draft; large, gas, steam, natural
draft; and large, oil, steam. On or after
March 2, 2012, conduct the combustion
efficiency test as given in Section 5.2
(Combustion Efficiency Test) of the HI
BTS–2000, Rev 06.07 for the following
commercial packaged boiler equipment
classes: Large, gas-fired, hot water and
large, oil-fired, hot water.
(iii) Instruments and Apparatus: (A)
Follow the requirements for instruments
and apparatus in sections 6
(Instruments) and 7 (Apparatus), of the
HI BTS–2000, Rev 06.07 (incorporated
by reference, see § 431.85), with the
exception of section 7.2.5 (flue
connection for outdoor boilers) which is
replaced with paragraph (c)(1)(iii)(B) of
this section:
(B) Flue Connection for Outdoor
Boilers: Consistent with the procedure
specified in section 7.2.1 of HI BTS–
2000, Rev 06.07 (incorporated by
reference, see § 431.85), the integral
venting used in oil-fired and power gas
outdoor boilers may be modified only to
the extent necessary to permit the
boiler’s connection to the test flue
apparatus for testing.
(iv) Test Conditions: Use test
conditions from Section 8.0 (excluding
8.6.2) of HI BTS–2000, Rev 06.07
(incorporated by reference, see § 431.85)
for combustion efficiency testing. Use
all of the test conditions from Section
8.0 of HI BTS–2000, Rev 06.07 for
thermal efficiency testing.
(2) Test Measurements—(i) NonCondensing Boilers: (A) Combustion
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Efficiency. Measure for combustion
efficiency according to sections 9.1
(excluding sections 9.1.1.2.3 and
9.1.2.2.3), 9.2 and 10.2 of the HI BTS–
2000, Rev 06.07 (incorporated by
reference, see § 431.85).
(B) Thermal Efficiency. Measure for
thermal efficiency according to sections
9.1 and 10.1 of the HI BTS–2000, Rev
06.07 (incorporated by reference, see
§ 431.85).
(ii) Procedure for the Measurement of
Condensate for a Condensing Boiler. For
the combustion efficiency test, collect
flue condensate as specified in Section
9.2.2 of HI BTS–2000, Rev 06.07
(incorporated by reference, see
§ 431.85). Measure the condensate from
the flue gas under steady state operation
for the 30 minute collection period
during the 30 minute steady state
combustion efficiency test. Flue
condensate mass shall be measured
immediately at the end of the 30 minute
collection period to prevent evaporation
loss from the sample. The humidity of
the room shall at no time exceed 80
percent. Determine the mass of flue
condensate for the steady state period
by subtracting the tare container weight
from the total container and flue
condensate weight measured at the end
of the test period. For the thermal
efficiency test, collect and measure the
condensate from the flue gas as
specified in Section 9.1.1 and 9.1.2 of HI
BTS–2000, Rev 06.07.
(iii) A Boiler That is Capable of
Supplying Either Steam or Hot Water—
(A) Testing. For purposes of EPCA,
before March 2, 2012, measure the
combustion efficiency of any size
commercial packaged boiler capable of
supplying either steam or hot water
either by testing the boiler in the steam
mode or by testing it in both the steam
and hot water modes. On or after March
2, 2012, measure the combustion
efficiency and thermal efficiency of a
large (fuel input greater than 2,500
kBtu/h) commercial packaged boiler
capable of supplying either steam or hot
water either by testing the boiler for
both efficiencies in steam mode, or by
testing the boiler in both steam and hot
water modes measuring the thermal
efficiency of the boiler in steam mode
and the combustion efficiency of the
boiler in hot water mode. Measure only
the thermal efficiency of a small (fuel
input of greater than or equal to 300
kBtu/h and less than or equal to 2,500
kBtu/h) commercial packaged boiler
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Fmt 4701
Sfmt 4700
36355
capable of supplying either steam or hot
water either by testing the boiler for
thermal efficiency only in steam mode
or by testing the boiler for thermal
efficiency in both steam and hot water
modes.
(B) Rating. If testing a large boiler only
in the steam mode, use the efficiencies
determined from such testing to rate the
thermal efficiency for the steam mode
and the combustion efficiency for the
hot water mode. If testing a large boiler
in both modes, rate the boiler’s
efficiency for each mode based on the
testing in that mode. If testing a small
boiler only in the steam mode, use the
efficiencies determined from such
testing to rate the thermal efficiency for
the steam mode and the hot water mode.
If testing a small boiler in both modes,
rate the boiler’s efficiency for each mode
based on the testing in that mode.
(3) Calculation of Efficiency—(i)
Combustion Efficiency. Use the
calculation procedure for the
combustion efficiency test specified in
Section 11.2 (including the specified
subsections of 11.1) of the HI BTS–2000,
Rev 06.07 (incorporated by reference,
see § 431.85).
(ii) Thermal Efficiency. Use the
calculation procedure for the thermal
efficiency test specified in Section 11.1
of the HI BTS–2000, Rev 06.07
(incorporated by reference, see
§ 431.85).
■ 5. Revise § 431.87 to read as follows:
§ 431.87 Energy conservation standards
and their effective dates.
(a) Each commercial packaged boiler
manufactured on or after January 1,
1994, and before March 2, 2012, must
meet the following energy efficiency
standard levels:
(1) For a gas-fired packaged boiler
with a capacity (rated maximum input)
of 300,000 Btu/h or more, the
combustion efficiency at the maximum
rated capacity must be not less than 80
percent.
(2) For an oil-fired packaged boiler
with a capacity (rated maximum input)
of 300,000 Btu/h or more, the
combustion efficiency at the maximum
rated capacity must be not less than 83
percent.
(b) Each commercial packaged boiler
listed in Table 1 to § 431.87 and
manufactured on or after the effective
date listed in Table 1 of this section,
must meet the applicable energy
conservation standard in Table 1.
E:\FR\FM\22JYR2.SGM
22JYR2
36356
Federal Register / Vol. 74, No. 139 / Wednesday, July 22, 2009 / Rules and Regulations
TABLE 1 TO § 431.87—COMMERCIAL PACKAGED BOILER ENERGY CONSERVATION STANDARDS
Efficiency level—
Effective date:
March 2, 2012 *
Equipment type
Subcategory
Size category
(input)
Hot Water Commercial Packaged Boilers.
Hot Water Commercial Packaged Boilers.
Hot Water Commercial Packaged Boilers.
Hot Water Commercial Packaged Boilers.
Steam Commercial Packaged Boilers ...
Steam Commercial Packaged Boilers ...
Steam Commercial Packaged Boilers ...
Steam Commercial Packaged Boilers ...
Steam Commercial Packaged Boilers ...
Steam Commercial Packaged Boilers ...
Gas-fired ................................................
≥300,000 Btu/h and ≤2,500,000 Btu/h ..
80.0% ET
Gas-fired ................................................
>2,500,000 Btu/h ...................................
82.0% EC
Oil-fired ..................................................
≥300,000 Btu/h and ≤2,500,000 Btu/h ..
82.0% ET
Oil-fired ..................................................
>2,500,000 Btu/h ...................................
84.0% EC
Gas-fired—all, except natural draft .......
Gas-fired—all, except natural draft .......
Gas-fired—natural draft .........................
Gas-fired—natural draft .........................
Oil-fired ..................................................
Oil-fired ..................................................
≥300,000 Btu/h and ≤2,500,000 Btu/h ..
>2,500,000 Btu/h ...................................
≥300,000 Btu/h and ≤2,500,000 Btu/h ..
>2,500,000 Btu/h ...................................
≥300,000 Btu/h and ≤2,500,000 Btu/h ..
>2,500,000 Btu/h ...................................
79.0%
79.0%
77.0%
77.0%
81.0%
81.0%
ET
ET
ET
ET
ET
ET
* Where EC is combustion efficiency and ET is thermal efficiency as defined in § 431.82.
(c) Each commercial packaged boiler
listed in Table 2 to § 431.87 and
manufactured on or after the effective
date listed in Table 2 of this section,
must meet the applicable energy
conservation standard in Table 2.
TABLE 2 TO § 431.87—COMMERCIAL PACKAGED BOILER ENERGY CONSERVATION STANDARDS
Equipment type
Subcategory
Size category (input)
Steam Commercial Packaged Boilers ...
Steam Commercial Packaged Boilers ...
Gas-fired—natural draft .........................
Gas-fired—natural draft .........................
≥300,000 Btu/h and ≤2,500,000 Btu/h ..
>2,500,000 Btu/h ...................................
Efficiency level—
Effective date:
March 2, 2022 *
79.0% ET
79.0% ET
* Where EC is combustion efficiency and ET is thermal efficiency as defined in § 431.82.
6. Add a new paragraph (d) to § 431.97
to read as follows:
■
§ 431.97 Energy efficiency standards and
their effective dates.
*
*
*
*
*
(d) Each water-cooled and
evaporatively-cooled commercial
package air conditioning and heating
equipment with a cooling capacity at or
above 240,000 Btu/h and less than
760,000 Btu/h manufactured on or after
January 10, 2011, shall meet the
following standard levels:
(1) For equipment that utilizes electric
resistance heat or without heating, the
energy efficiency ratio must be not less
than 11.0.
(2) For equipment that utilizes all
other types of heating, the energy
efficiency ratio must be not less than
10.8.
jlentini on DSKJ8SOYB1PROD with RULES2
Note: The following appendix will not
appear in the Code of Federal Regulations.
Department of Justice, Antitrust Division,
Christine A. Varney, Assistant Attorney
General, Main Justice Building, 950
Pennsylvania Avenue, NW., Washington,
DC 20530–0001, (202) 514–2401/(202)
VerDate Nov<24>2008
18:17 Jul 21, 2009
Jkt 217001
616–2645(f), antitrust.atr@usdoj.gov,
https://www.usdoj.gov/atr.
May 8, 2009.
Eric J. Fygi, Acting General Counsel,
Department of Energy, Washington, DC
20585.
Dear Acting General Counsel Fygi: I am
responding to your March 30, 2009 letter
seeking the views of the Attorney General
about the potential impact on competition of
proposed amended energy conservation
standards for commercial packaged boilers
and certain commercial packaged airconditions and heat pumps. Your request
was submitted pursuant to Section
325(0)(2)(B)(i)(V) of the Energy Policy and
Conservation Act, as amended, 42 U.S.C.
6295(0)(2)(B)(i)(V), which requires the
Attorney General to make a determination of
the impact of any lessening of competition
that is likely to result from the imposition of
proposed energy conservation standards. The
Attorney General’s responsibility for
responding to requests from other
departments about the effect of a program on
competition has been delegated to the
Assistant Attorney General for the Antitrust
Division in 28 CFR 0.40(g).
In conducting its analysis, the Antitrust
Division examines whether a proposed
standard may lessen competition, for
example, by substantially limiting consumer
PO 00000
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Fmt 4701
Sfmt 4700
choice leaving consumers with fewer
competitive alternatives, placing certain
manufacturers of a product at an unjustified
competitive disadvantage compared to other
manufacturers; or by inducing avoidable
inefficiencies in production or distribution of
particular products.
We have reviewed the proposed standards
and the supplementary information
submitted to the Attorney General, and
attended the April 7, 2009 public hearing on
the proposed standards.
We have concluded that the proposed
standards are not likely to have an adverse
effect on competition. In reaching this
conclusion, we note the absence of any
competitive concerns raised by industry
participants at the hearing. Indeed, the
efficiency levels in the proposed standards
are based on a consensus recommendation
submitted by efficiency advocacy groups and
the trade association for manufacturers of
commercial packaged boilers. Based on these
facts, we believe the new standard would not
likely reduce competition.
Sincerely,
Christine A. Varney,
Assistant Attorney General.
[FR Doc. E9–16774 Filed 7–21–09; 8:45 am]
BILLING CODE 6450–01–P
E:\FR\FM\22JYR2.SGM
22JYR2
Agencies
[Federal Register Volume 74, Number 139 (Wednesday, July 22, 2009)]
[Rules and Regulations]
[Pages 36312-36356]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E9-16774]
[[Page 36311]]
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Part II
Department of Energy
-----------------------------------------------------------------------
10 CFR Part 431
Energy Conservation Program for Certain Industrial Equipment: Energy
Conservation Standards and Test Procedures for Commercial Heating, Air-
Conditioning, and Water-Heating Equipment; Final Rule
Federal Register / Vol. 74 , No. 139 / Wednesday, July 22, 2009 /
Rules and Regulations
[[Page 36312]]
-----------------------------------------------------------------------
DEPARTMENT OF ENERGY
10 CFR Part 431
[Docket No. EERE-2008-BT-STD-0013]
RIN 1904-AB83
Energy Conservation Program for Certain Industrial Equipment:
Energy Conservation Standards and Test Procedures for Commercial
Heating, Air-Conditioning, and Water-Heating Equipment
AGENCY: Office of Energy Efficiency and Renewable Energy, Department of
Energy.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: The U.S. Department of Energy (DOE) is adopting amended energy
conservation standards for commercial packaged boilers and adopting a
new energy conservation standard for water-cooled and evaporatively-
cooled commercial package air conditioners and heat pumps with a
cooling capacity at or above 240,000 Btu/h and less than 760,000 Btu/h
at the efficiency levels specified in the American Society of Heating,
Refrigerating and Air-Conditioning Engineers, Inc. (ASHRAE)/
Illuminating Engineering Society of North America (IESNA) Standard
90.1-2007. DOE has determined that the ASHRAE Standard 90.1-2007
efficiency levels for commercial packaged boilers are more stringent
than the existing Federal energy conservation standards and will result
in economic and energy savings compared to existing energy conservation
standards. Furthermore, DOE has concluded that clear and convincing
evidence does not exist, as would justify more-stringent standard
levels than the efficiency levels in ASHRAE Standard 90.1-2007. In
addition, DOE is adopting related amendments to its test procedures for
commercial packaged boilers.
DATES: This rule is effective September 21, 2009. The standards for
commercial packaged boilers established in this final rule will apply
starting on March 2, 2012. The standards for water-cooled and
evaporatively-cooled commercial package air conditioners and heat pumps
with a cooling capacity at or above 240,000 Btu/h and less than 760,000
Btu/h established in this final rule will apply starting on January 10,
2011. The incorporation by reference of certain publications listed in
this final rule was approved by the Director of the Federal Register on
September 21, 2009.
ADDRESSES: For access to the docket to read background documents or
comments received, visit the U.S. Department of Energy, Resource Room
of the Building Technologies Program, 950 L'Enfant Plaza, SW., 6th
Floor, Washington, DC 20024, (202) 586-2945, between 9 a.m. and 4 p.m.,
Monday through Friday, except Federal holidays. Please call Ms. Brenda
Edwards at the above telephone number for additional information
regarding visiting the Resource Room. You may also obtain copies of the
final rule in this proceeding, related documents (e.g., the notice of
proposed rulemaking and technical support document DOE used to reassess
whether to adopt certain efficiency levels in ASHRAE Standard 90.1),
draft analyses, public meeting materials, and related test procedure
documents from the Office of Energy Efficiency and Renewable Energy's
Web site at: https://www1.eere.energy.gov/buildings/appliance_standards/commercial/ashrae_products_docs_meeting.html.
FOR FURTHER INFORMATION CONTACT: Mr. Mohammed Khan, U.S. Department of
Energy, Office of Energy Efficiency and Renewable Energy, Building
Technologies Program, Mailstop EE-2J, 1000 Independence Avenue, SW.,
Washington, DC 20585-0121. Telephone: (202) 586-7892. E-mail:
Mohammed.Khan@ee.doe.gov.
Mr. Michael Kido or Mr. Eric Stas, U.S. Department of Energy,
Office of the General Counsel, Mailstop GC-72, Forrestal Building, 1000
Independence Avenue, SW., Washington, DC 20585-0121. Telephone: (202)
586-8145 or (202) 586-5827. E-mail: Michael.Kido@hq.doe.gov or
Eric.Stas@hq.doe.gov.
SUPPLEMENTARY INFORMATION:
This final rule incorporates by reference into subpart E of Title
10, Code of Federal Regulations, part 431 (10 CFR part 431), the
following standard:
The Hydronics Institute Division of GAMA BTS-2000 Testing
Standard, (``HI BTS-2000, Rev06.07''), Method to Determine Efficiency
of Commercial Space Heating Boilers, Second Edition (Rev 06.07), 2007.
The Gas Appliance Manufacturers Association (GAMA) merged in 2008
with the Air-Conditioning and Refrigeration Institute to become the
Air-Conditioning, Heating, and Refrigeration Institute (AHRI). The
Hydronics Institute BTS-2000 Testing Standard can be obtained from
AHRI. Copies of HI BTS-2000 can be obtained from the Hydronics
Institute Section of AHRI, P.O. Box 218, Berkeley Heights, NJ 07922-
0218, (866) 408-3831, or go to: https://www.ahrinet.org/Content/OrderaStandard_573.aspx.
Table of Contents
I. Summary of Final Rule
II. Introduction
A. Authority
B. Background
1. ASHRAE Standard 90.1-2007
2. Notice of Data Availability and Request for Public Comment
3. Notice of Proposed Rulemaking
4. Notice of Data Availability and Request for Public Comment--
Environmental Assessment and Emissions Monetization
III. General Discussion of Comments Regarding the March 2009 NOPR,
the ASHRAE Process, and DOE's Interpretation of EPCA's Requirements
With Respect to ASHRAE Equipment
A. Equipment Classes With a Two-Tier Efficiency Level Specified
in ASHRAE Standard 90.1-2007
B. The Definition of Amendment With Respect to the Efficiency
Levels in an ASHRAE Standard
C. DOE's Review of ASHRAE Equipment Independent of the ASHRAE
Standards Process
D. Combination Efficiency Level and Design Requirements in
ASHRAE Standard 90.1-2007
E. The Proposed Energy Conservation Standards for Commercial
Packaged Boilers
F. Commercial Electric Instantaneous Water Heaters
IV. General Discussion of the Changes in ASHRAE Standard 90.1-2007
and Determination of Scope for Further Rulemaking Analyses
V. Methodology and Discussion of Comments for Commercial Packaged
Boilers
A. Test Procedures
B. Market Assessment
C. Engineering Analysis
1. Approach and Assumptions
2. Results
D. Markups To Determine Equipment Price
E. Energy Use Characterization
F. Life-Cycle Cost and Payback Period Analyses
G. Shipments Analysis
H. National Impact Analysis--National Energy Savings and Net
Present Value Analysis
I. Environmental Assessment
1. Sulfur Dioxide
2. Nitrogen Oxides
J. Monetizing Carbon Dioxide and Other Emissions Impacts
K. Other Issues
1. Impact of Standards on Natural Gas Prices
2. Effective Date of the Amended Energy Conservation Standards
for Commercial Packaged Boilers
VI. Analytical Results for Commercial Packaged Boilers
A. Efficiency Levels Analyzed
B. Economic Justification and Energy Savings
1. Economic Impacts on Commercial Customers
2. National Impact Analysis
3. Need of the Nation To Conserve Energy
C. Amended Energy Conservation Standards for Commercial Packaged
Boilers
[[Page 36313]]
D. Amended Energy Conservation Standards for Water-Cooled and
Evaporatively-Cooled Commercial Package Air Conditioners and Heat
Pumps With a Cooling Capacity at or Above 240,000 Btu/h and Less
Than 760,000 Btu/h
VII. Procedural Issues and Regulatory Review
A. Review Under Executive Order 12866
B. Review Under the National Environmental Policy Act
C. Review Under the Regulatory Flexibility Act
D. Review Under the Paperwork Reduction Act
E. Review Under the Unfunded Mandates Reform Act of 1995
F. Review Under the Treasury and General Government
Appropriations Act, 1999
G. Review Under Executive Order 13132
H. Review Under Executive Order 12988
I. Review Under the Treasury and General Government
Appropriations Act, 2001
J. Review Under Executive Order 13211
K. Review Under Executive Order 12630
L. Review Under Section 32 of the Federal Energy Administration
Act of 1974
M. Review Under the Information Quality Bulletin for Peer Review
N. Congressional Notification
VIII. Approval of the Office of the Secretary
I. Summary of Final Rule
The Energy Policy and Conservation Act (42 U.S.C. 6291 et seq.), as
amended (EPCA), requires DOE to consider amending the existing Federal
energy conservation standard for each type of equipment listed
(generally, commercial water heaters, commercial packaged boilers,
commercial air conditioning and heating equipment, and packaged
terminal air conditioners and heat pumps), each time ASHRAE Standard
90.1, Energy Standard for Buildings Except Low-Rise Residential
Buildings (ASHRAE Standard 90.1 or, in context, Standard 90.1), is
amended with respect to such equipment. (42 U.S.C. 6313(a)(6)(A)) For
each type of equipment, EPCA directs that if ASHRAE Standard 90.1 is
amended,\1\ DOE must adopt amended energy conservation standards at the
new efficiency level in ASHRAE Standard 90.1, unless clear and
convincing evidence supports a determination that adoption of a more-
stringent efficiency level as a national standard would produce
significant additional energy savings and be technologically feasible
and economically justified. (42 U.S.C. 6313(a)(6)(A)(ii)) If DOE
decides to adopt as a national standard the efficiency levels specified
in the amended ASHRAE Standard 90.1, DOE must establish such standard
not later than 18 months after publication of the amended industry
standard. (42 U.S.C. 6313(a)(6)(A)(ii)(I)) If DOE determines that a
more-stringent standard is appropriate, DOE must establish an amended
standard not later than 30 months after publication of the revised
ASHRAE Standard 90.1. (42 U.S.C. 6313(a)(6)(B))
---------------------------------------------------------------------------
\1\ Although EPCA does not explicitly define the term
``amended'' in the context of ASHRAE Standard 90.1, DOE provided its
interpretation of what would constitute an ``amended standard'' in a
final rule published in the Federal Register on March 7, 2007
(hereafter referred to as the March 2007 final rule). 72 FR 10038.
In that rule, DOE explained that the statutory trigger requiring DOE
to adopt uniform national standards based on ASHRAE action is the
amending of an efficiency level by ASHRAE for any of the equipment
listed in EPCA section 342(a)(6)(A)(i) (42 U.S.C. 6313(a)(6)(A)(i))
by increasing the energy efficiency level for that equipment type.
Id. at 10042. In other words, if the revised ASHRAE Standard 90.1
leaves the standard level unchanged or lowers the standard, as
compared to the level specified by the national standard adopted
pursuant to EPCA, DOE does not have the authority to conduct a
rulemaking to consider a higher standard for that equipment pursuant
to 42 U.S.C. 6313(a)(6)(A).
---------------------------------------------------------------------------
DOE published a notice of proposed rulemaking on March 20, 2009
(March 2009 NOPR), in the Federal Register describing DOE's
determination of scope for considering amended energy conservation
standards with respect to certain heating, ventilating, air-
conditioning, and water-heating equipment addressed in ASHRAE Standard
90.1-2007. 74 FR 12000; 12008-20. ASHRAE Standard 90.1-2007, which was
formally adopted by the group's Board of Directors in early January
2008, generally retained the energy efficiency levels already in place,
except with respect to commercial packaged boilers and one class of
commercial package air conditioners and heat pumps--water cooled and
evaporatively cooled air conditioners and heat pumps with a cooling
capacity at or above 240,000 Btu/h and less than 760,000 Btu/h. See 74
FR 12004.
For the commercial package air conditioning and heating equipment
covered in this rulemaking, ASHRAE assigned an effective date of
January 10, 2008. For eight equipment classes of commercial packaged
boilers, ASHRAE assigned an effective date of March 2, 2010. For the
remaining two equipment classes of commercial packaged boilers covered
by this rulemaking, ASHRAE created two-tiered effective dates--March 2,
2010, for an initial increase in the efficiency level and March 2,
2020, for the next required level.
In determining the scope of the rulemaking, DOE is statutorily
required to ascertain whether the revised ASHRAE efficiency levels have
become more stringent, thereby ensuring that any new amended national
standard would not result in ``backsliding,'' which is prohibited under
42 U.S.C. 6295(o)(1) and 42 U.S.C. 6316(a). For those equipment classes
for which ASHRAE set more-stringent efficiency levels (i.e., commercial
packaged boilers), DOE analyzed the economic and energy savings
potential of amended national energy conservation standards (at both
the new ASHRAE Standard 90.1 efficiency levels and more-stringent
efficiency levels) in the March 2009 NOPR. 74 FR 12037-41.
The energy conservation standards in today's final rule, which
apply to all commercial packaged boilers and water-cooled and
evaporatively-cooled commercial package air conditioners and heat pumps
with a cooling capacity at or above 240,000 Btu/h and less than 760,000
Btu/h, satisfy all applicable requirements of EPCA and will achieve the
maximum improvements in energy efficiency that are technologically
feasible and economically justified. (See 42 U.S.C. 6316(a); 42 U.S.C.
6295(o)(2)(A)) DOE has concluded that, based on the information
presented and its analyses, there is not clear and convincing evidence
justifying adoption of more-stringent efficiency levels for this
equipment.
Thus, in accordance with the criteria discussed in this notice, DOE
is adopting amended energy conservation standards for ten equipment
classes of commercial packaged boilers and adopting a new energy
conservation standard for water-cooled and evaporatively-cooled
commercial package air conditioners and heat pumps with a cooling
capacity at or above 240,000 Btu/h and less than 760,000 Btu/h by
adopting the efficiency levels specified by ASHRAE Standard 90.1-2007.
Pursuant to EPCA, the compliance date for amended energy conservation
standards based upon the levels in ASHRAE Standard 90.1 is either two
or three years after the effective date of the requirement in the
amended ASHRAE standard, depending on the type and size of the
equipment. (See 42 U.S.C. 6313(a)(6)(D)) In the present case, the
amended standards for commercial packaged boilers apply to the ten
equipment classes of commercial packaged boilers manufactured on or
after the date two years after the effective date specified in ASHRAE
Standard 90.1-2007. (42 U.S.C. 6313(a)(6)(D)(i)) The amended standards
for water-cooled and evaporatively-cooled commercial package air
conditioners and heat pumps with a cooling capacity at or above 240,000
Btu/h and less than 760,000 Btu/h apply to such equipment manufactured
on or after the date three years after the effective date specified in
ASHRAE Standard 90.1-2007. (42 U.S.C. 6313(a)(6)(D)(ii)) Table I.1
shows the energy conservation standards that DOE
[[Page 36314]]
is adopting today and their respective effective dates.
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[GRAPHIC] [TIFF OMITTED] TR22JY09.000
BILLING CODE 6450-01-C
In addition, DOE is adopting amendments to its test procedures for
commercial packaged boilers, which manufacturers are required to use to
certify compliance with energy conservation standards mandated under
EPCA. See 42 U.S.C. 6314(a)(4) and 10 CFR part 431.86. Specifically,
these amendments, which were proposed in the March 2009 NOPR, update
the citations and references to the most recent version of the industry
standards already referenced in DOE's test procedures. 74 FR 12020-22.
In addition, these amendments specify a definition and methodology to
test the thermal efficiency of these boilers, which is the metric DOE
is adopting for eight of the ten equipment classes of commercial
packaged boilers to conform with the new energy efficiency metric
adopted in ASHRAE Standard 90.1-2007. Lastly, these amendments make a
small number of technical modifications to DOE's existing test
procedure for commercial packaged boilers, including deleting obsolete
references and renumbering appropriate sections of the CFR.
II. Introduction
A. Authority
Title III of EPCA, Public Law 94-163, as amended, sets forth a
variety of provisions concerning energy efficiency. Part A-1 \2\ of
Title III created the energy conservation program for certain
industrial equipment. (42 U.S.C. 6311-6317) In general, this program
addresses the energy efficiency of certain types of
[[Page 36315]]
commercial and industrial equipment. Part A-1 specifically includes
definitions (42 U.S.C. 6311), energy conservation standards (42 U.S.C.
6313), test procedures (42 U.S.C. 6314), labeling provisions (42 U.S.C.
6315), and the authority to require information and reports from
manufacturers (42 U.S.C. 6316).
---------------------------------------------------------------------------
\2\ For editorial reasons, Parts B (consumer products) and C
(commercial equipment) of Title III of EPCA were redesignated as
Parts A and A-1, respectively, in the United States Code.
---------------------------------------------------------------------------
EPCA contains mandatory energy conservation standards for
commercial heating, air-conditioning, and water-heating equipment. (42
U.S.C. 6313(a)) Specifically, the statute sets standards for small,
large, and very large commercial packaged air-conditioning and heating
equipment, packaged terminal air conditioners (PTACs) and packaged
terminal heat pumps (PTHPs), warm air furnaces, packaged boilers,
storage water heaters, and unfired hot water storage tanks. Id. In
doing so, EPCA established Federal energy conservation standards that
generally correspond to the levels in ASHRAE Standard 90.1, as in
effect on October 24, 1992 (i.e., ASHRAE Standard 90.1-1989), for each
type of covered equipment listed in 42 U.S.C. 6313(a).
Congress further directed DOE to consider amending the existing
Federal energy conservation standard for each type of equipment listed
whenever ASHRAE amends the efficiency levels in Standard 90.1. (42
U.S.C. 6313(a)(6)(A)) For each type of listed equipment, EPCA directs
that if ASHRAE amends Standard 90.1, DOE must adopt amended standards
at the new ASHRAE efficiency level unless clear and convincing evidence
supports a determination that adoption of a more stringent level would
produce significant additional energy savings and would be
technologically feasible and economically justified. (42 U.S.C.
6313(a)(6)(A)(ii)) If DOE decides to adopt as a national standard the
efficiency levels specified in the amended ASHRAE Standard 90.1, DOE
must establish such standard not later than 18 months after publication
of the amended industry standard. (42 U.S.C. 6313(a)(6)(A)(ii)(I))
However, if DOE determines that a more-stringent standard is justified
under 42 U.S.C. 6313(a)(6)(A)(ii)(II), then it must establish such
more-stringent standard not later than 30 months after publication of
the amended ASHRAE Standard 90.1. (42 U.S.C. 6313(a)(6)(B))
ASHRAE officially released and made public on January 10, 2008,
ASHRAE Standard 90.1-2007. This action triggered DOE's obligations
under 42 U.S.C. 6313(a)(6), as outlined above.
Pertinent to any rulemaking in response to an ASHRAE revision of
Standard 90.1, DOE must evaluate the amended efficiency levels to
ensure that the adoption of the revised Standard 90.1 levels does not
result in the promulgation of any amended standard that either
increases the maximum allowable energy use or decreases the minimum
required energy efficiency of covered equipment. (42 U.S.C. 6295(o)(1);
42 U.S.C. 6316(a)) This ``anti-backsliding'' provision acts as a
statutory backstop to help preserve the stringency of established DOE
energy efficiency standards. See Natural Resources Defense Council v.
Abraham, 355 F.3d 179 (2d Cir. 2004).
When considering the possibility of a more-stringent standard, EPCA
requires DOE to consider a variety of factors, with the primary ones
being whether a more-stringent standard would be technologically
feasible, economically justified, and be likely to produce significant
additional energy savings. For example, EPCA provides that in deciding
whether such a standard is economically justified, DOE must determine,
after receiving comments on the proposed standard, whether the benefits
of the standard exceed its burdens by considering, to the greatest
extent practicable, the following seven factors:
1. The economic impact of the standard on manufacturers and
consumers of the products subject to the standard;
2. The savings in operating costs throughout the estimated average
life of the product in the type (or class) compared to any increase in
the price of, or in the initial charges for, or maintenance expenses of
the products which are likely to result from the imposition of the
standard;
3. The total projected amount of energy savings likely to result
directly from the imposition of the standard;
4. Any lessening of the utility or the performance of the products
likely to result from the imposition of the standard;
5. The impact of any lessening of competition, as determined in
writing by the Attorney General, that is likely to result from the
imposition of the standard;
6. The need for national energy conservation; and
7. Other factors the Secretary considers relevant.
(42 U.S.C. 6295(o)(2)(B)(i)-(ii); 42 U.S.C. 6316(a))
Additionally, the Secretary may not prescribe an amended standard
if interested persons have established by a preponderance of the
evidence that the amended standard is ``likely to result in the
unavailability in the United States of any product type (or class)''
with performance characteristics, features, sizes, capacities, and
volumes that are substantially the same as those generally available in
the United States at the time of the Secretary's finding. (42 U.S.C.
6295(o)(4); 42 U.S.C. 6316(a))
Federal energy conservation requirements for commercial equipment
generally supersede State laws or regulations concerning energy
conservation testing, labeling, and standards. (42 U.S.C. 6316(a)-(b))
However, DOE can grant waivers of preemption for particular State laws
or regulations, in accordance with section 327(d) of EPCA. (42 U.S.C.
6297(d) and 6316(b)(2)(D))
When considering more stringent standards for the ASHRAE equipment
under consideration here, EPCA states, in relevant part, that there is
a rebuttable presumption that an energy conservation standard is
economically justified if the additional cost to the consumer of a
product that meets the standard level is less than three times the
value of the first-year energy (and, as applicable, water) savings
resulting from the standard, as calculated under the applicable DOE
test procedure. (42 U.S.C. 6295(o)(2)(B)(iii) and 42 U.S.C. 6316(a))
Generally, DOE's life cycle cost (LCC) and payback period (PBP)
analyses generate values that calculate the payback period for
consumers of potential energy conservation standards, which includes,
but is not limited to, the three-year payback period contemplated under
the rebuttable presumption test discussed above. However, DOE routinely
conducts a full economic analysis that considers the full range of
impacts, including those to the consumer, manufacturer, Nation, and
environment, as required under 42 U.S.C. 6295(o)(2)(B)(i) and 42 U.S.C.
6316(a). The results of this analysis serve as the basis for DOE to
definitively evaluate the economic justification for a potential
standard level (thereby supporting or rebutting the results of any
preliminary determination of economic justification).
B. Background
1. ASHRAE Standard 90.1-2007
On January 9, 2008, ASHRAE's Board of Directors gave final approval
to ASHRAE Standard 90.1-2007, which ASHRAE released on January 10,
2008. ASHRAE Standard 90.1 addresses efficiency levels for many types
of commercial heating, ventilating, air-conditioning (HVAC), and water-
heating equipment covered by EPCA; it revised the efficiency levels for
certain commercial equipment, while leaving in
[[Page 36316]]
place the preexisting efficiency levels for the remaining equipment.
For the equipment classes where ASHRAE left the preexisting efficiency
in place, the efficiency levels specified in ASHRAE Standard 90.1-1999
were carried forward and continue to apply.\3\
---------------------------------------------------------------------------
\3\ DOE reviewed and adopted some of the efficiency levels in
ASHRAE Standard 90.1-1999 in a Final Rule published on January 12,
2001. 66 FR 3336.
---------------------------------------------------------------------------
Table II.1 below shows the current Federal energy conservation
standards and the new efficiency levels for equipment affected by the
changes made by ASHRAE Standard 90.1-2007. In section IV of the March
2009 NOPR, DOE assessed these equipment types to determine whether the
ASHRAE amendments constitute increased energy conservation levels that
would necessitate further analysis. 74 FR 12008-20. This step was
necessary because DOE found that while ASHRAE had made changes in
ASHRAE Standard 90.1-2007, it was not immediately apparent whether
these changes to the energy efficiency levels would make the equipment
more or less efficient, when compared to the existing Federal energy
conservation standards. For example, when setting a standard using a
different efficiency metric (as is the case for several types of
commercial packaged boiler equipment), ASHRAE Standard 90.1-2007
changes the standard level from that specified in EPCA. However, it is
not immediately clear whether this modified level will result in
increased or reduced efficiency. Therefore, DOE undertook this
additional threshold analysis to thoroughly evaluate the amendments in
ASHRAE Standard 90.1-2007 in a manner consistent with its statutory
mandate.
BILLING CODE 6450-01-P
[[Page 36317]]
[GRAPHIC] [TIFF OMITTED] TR22JY09.001
[[Page 36318]]
[GRAPHIC] [TIFF OMITTED] TR22JY09.002
BILLING CODE 6450-01-C
[[Page 36319]]
2. Notice of Data Availability and Request for Public Comment
On July 16, 2008, DOE published a notice of data availability (July
2008 NODA) and request for public comment in the Federal Register as a
preliminary step pursuant to EPCA's requirements for DOE to consider
amended energy conservation standards for certain types of commercial
equipment covered by ASHRAE Standard 90.1. 73 FR 40770 (July 16, 2008).
Specifically, the July 2008 NODA presented for public comment DOE's
analysis of the potential energy savings estimates for amended national
energy conservation standards for types of commercial equipment based
on: (1) the modified efficiency levels contained within ASHRAE Standard
90.1-2007; and (2) more-stringent efficiency levels. 73 FR 40772. DOE
has described these analyses and preliminary conclusions and sought
input from interested parties, including the submission of data and
other relevant information. Id.
In addition, DOE discussed the changes introduced by Standard 90.1-
2007 and presented an initial description of DOE's evaluation of each
ASHRAE equipment type to determine which energy conservation standards,
if any, have been set pursuant to EPCA, in order for DOE to determine
whether the amendments in ASHRAE Standard 90.1-2007 result in increased
efficiency levels when compared with the current Federal standards. 74
FR 40776-86. Regarding equipment for which ASHRAE increased efficiency
levels through Standard 90.1-2007, DOE subjected these equipment
efficiency levels to the potential energy savings analysis discussed
above and presented the results for public comment. Id.
As a result of the preliminary determination of scope set forth in
the July 2008 NODA, DOE found that the ten equipment classes of
commercial packaged boilers described by ASHRAE were the only equipment
type available on the market for which ASHRAE increased the efficiency
levels. Id. DOE presented its methodology, data, and results for the
preliminary energy savings analysis developed for most of the
commercial packaged boiler equipment classes in the July 2008 NODA for
public comment. 72 FR 40786-91.
3. Notice of Proposed Rulemaking
On March 20, 2009, DOE published a NOPR in the Federal Register
proposing to amend the energy conservation standards for ten equipment
classes of commercial packaged boilers and to adopt a new energy
conservation standard for water-cooled and evaporatively-cooled
commercial packaged air conditioners and heat pumps with a cooling
capacity at or above 240,000 Btu/h and less than 760,000 Btu/h by
adopting the efficiency levels specified by ASHRAE Standard 90.1-2007.
74 FR 12000.
The March 2009 NOPR also contained DOE's determination of scope for
consideration of amended energy conservation standards with respect to
certain heating, ventilating, air-conditioning, and water-heating
equipment addressed in ASHRAE Standard 90.1-2007 and shown in Table
II.1, above. 74 FR 12008-20. For commercial packaged boilers, DOE
analyzed the economic and energy savings potential of amended national
energy conservation standards (at both the new ASHRAE Standard 90.1
efficiency levels and more stringent efficiency levels). See generally
74 FR 12020-41. DOE also explained in the March 2009 NOPR that it did
not analyze the economic and energy savings potential of amended
national energy conservation standards for water-cooled and
evaporatively cooled commercial packaged air conditioners and heat
pumps with a cooling capacity at or above 240,000 Btu/h and less than
760,000 Btu/h because there is no equipment currently being
manufactured in this equipment class. 74 FR 12013.
In addition, DOE proposed amendments to its test procedures for
commercial packaged boilers to update the citations and references to
the most recent version of the industry standards already referenced in
DOE's test procedures. 74 FR 12020-22. DOE also proposed to add a
definition and methodology to test the thermal efficiency for eight of
the ten equipment classes of commercial packaged boilers, which was the
metric DOE had proposed. Id.
4. Notice of Data Availability and Request for Public Comment--
Environmental Assessment and Emissions Monetization
On June 3, 2009, DOE published a NODA and request for public
comment on the environmental assessment (EA) for the March 2009 NOPR
proposing amended energy conservation standards for commercial packaged
boilers and water-cooled and evaporatively-cooled commercial package
air conditioners and heat pumps with a cooling capacity at or above
240,000 Btu/h and less than 760,000 Btu/h. 74 FR 26596. The EA included
a concise examination of the impacts of emission reductions likely to
result from the proposed standards for these two equipment types, as
presented in Chapter 8 of the NOPR TSD. DOE also performed an emissions
monetization analysis of those potential emission reductions and
described the results of the monetization analysis in Chapter 9 of the
NOPR TSD. Id. See https://www1.eere.energy.gov/buildings/appliance_standards/commercial/pdfs/ch_8_ashrae_nopr_tsd.pdf for the EA and
https://www1.eere.energy.gov/buildings/appliance_standards/commercial/pdfs/ch_9_ashrae_nopr_tsd.pdf for the monetization analysis. DOE
received no comments on the EA or the emissions monetization analysis
described by the June 2009 NODA. 74 FR 26596.
III. General Discussion of Comments Regarding the March 2009 NOPR, the
ASHRAE Process, and DOE's Interpretation of EPCA's Requirements With
Respect to ASHRAE Equipment
In response to the March 2009 NOPR, DOE received three comments
from manufacturers, trade associations, and energy efficiency
advocates. In addition, DOE received a comment from the U.S. Department
of Justice (DOJ) regarding the potential impact on competition of
proposed amended energy conservation standards for commercial packaged
boilers and certain commercial package air-conditions and heat pumps.
The issues raised in these comments, along with DOE's responses, are
set forth below.
A. Equipment Classes With a Two-Tier Efficiency Level Specified in
ASHRAE Standard 90.1-2007
For commercial packaged boilers, ASHRAE Standard 90.1-2007 further
divides the existing equipment classes (i.e., gas-fired and oil-fired)
into 10 different categories. For two of the ten categories specified
in ASHRAE Standard 90.1-2007, ASHRAE specifies a two-tier efficiency
level, with one efficiency level effective in 2010 and another more-
stringent efficiency level effective in 2020. The two categories where
ASHRAE Standard 90.1-2007 specifies a two-tier efficiency levels are
small gas-fired steam natural draft and large gas-fired steam natural
draft commercial packaged boilers.
In response to DOE's proposal for small gas-fired steam natural
draft and large gas-fired steam natural draft commercial packaged
boilers, several parties commented during the public meeting regarding
the adoption of two-tiered efficiency levels. The American Council for
an Energy-Efficient Economy (ACEEE) asserted that for a rulemaking with
an effective date of March 2, 2012, it is inappropriate for
[[Page 36320]]
DOE to pre-ordain any standards with an effective date of March 2,
2022. (ACEEE, Public Meeting Transcript, No. 12 at pp. 100-102) \4\
ACEEE further stated that it could not see any reason why DOE would
choose to bind itself today to any standards in 2022 and that in doing
so, the dynamic at ASHRAE would likely be influenced by DOE's actions.
(ACEEE, Public Meeting Transcript, No. 12 at p. 104) Lastly, ACEEE
stated it did not believe the second-tier efficiency level was the
subject of any ASHRAE discussions. (ACEEE, Public Meeting Transcript,
No. 12 at pp. 100-102)
---------------------------------------------------------------------------
\4\ ``ACEEE, Public Meeting Transcript, No. 12 at pp. 100-102''
refers to (1) to a statement that was submitted by the American
Council for an Energy-Efficient Economy during the March 2009 NOPR
Public Meeting. It was recorded in the Resource Room of the Building
Technologies Program in the docket under ``Energy Conservation
Program for Certain Industrial Equipment: Energy Conservation
Standards for Commercial Heating, Air-Conditioning, and Water-
Heating Equipment,'' Docket Number EERE-2008-BT-STD-0013, as comment
number 12; and (2) a passage that appears on pages 100 through 102
of that statement.
---------------------------------------------------------------------------
The Air-Conditioning, Heating, and Refrigeration Institute (AHRI)
asserted that for steam natural draft commercial packaged boilers, it
is worth having a second standard level with an effective date of March
2, 2022. (AHRI, Public Meeting Transcript, No. 12 at pp. 102-103)
Contrary to ACEEE's assertion, AHRI stated that the delayed effective
date (i.e., the second tier) was a part of the ASHRAE discussions and
the purpose of this two-tiered approach was to make an initial
incremental efficiency change while allowing for a longer lead time for
a larger improvement in efficiency for this very small segment of the
market. According to AHRI, the delayed date was to put manufacturers of
these products on notice that in 10 years the steam natural draft
equipment must be as efficient as non-natural draft equipment. (AHRI,
Public Meeting Transcript, No. 12 at pp. 102-103)
Burnham Hydronics Institute (Burnham) asserted that the proposed
levels for these two equipment classes are going to result in energy
savings through boilers being modified or taken off the market.
(Burnham, Public Meeting Transcript, No. 12 at pp. 103-104) Burnham
also predicted that natural gas steam natural draft products will be
essentially eliminated in 2022 due to the second-tier requirements in
ASHRAE Standard 90.1-2007. Burnham stated that manufacturers of these
products received additional time because some applications (e.g.,
boiler rooms with low head room) have no currently available
alternatives. Burnham stated that the extra 10 years affords
manufacturers and owners of buildings time to decide how to handle
those potential issues and to develop an alternative. (Burnham, Public
Meeting Transcript, No. 12 at pp. 103-104)
DOE is adopting the two-tier efficiency levels in ASHRAE Standard
90.1-2007 in today's final rule for small gas-fired steam natural draft
and large gas-fired steam natural draft commercial packaged boilers.
EPCA requires DOE to adopt energy efficiency standards for this
equipment at the minimum level specified in any amended ASHRAE standard
unless more-stringent standards are supported by clear and convincing
evidence. (42 U.S.C. 6313(a)(6)(A)) Unless more-stringent standards are
appropriate (in which case DOE can use its judgment to tailor the
relevant standard level(s)), the statute does not provide DOE latitude
to alter or disregard the ASHRAE Standard 90.1 levels in whole or part.
Because ASHRAE adopted a tiered standard, DOE cannot adopt one
efficiency level without adopting the latter efficiency level.
Accordingly, in its economic and energy savings analysis, DOE analyzed
these two equipment classes as if both the 2010 and 2020 levels will be
adopted on their respective effective dates. In addition, DOE is
adopting the two-tier efficiency levels in ASHRAE Standard 90.1-2007 as
a ``package'' in today's final rule for small gas-fired steam natural
draft and large gas-fired steam natural draft commercial packaged
boilers.
B. The Definition of Amendment With Respect to the Efficiency Levels in
an ASHRAE Standard
As DOE noted in the July 2008 NODA (73 FR 40771) and the March 2009
NOPR (74 FR 12006), EPCA does not explicitly define the term
``amended'' in the context of ASHRAE Standard 90.1. DOE had previously
interpreted what would constitute an ``amended standard'' in the
context of ASHRAE equipment in a final rule published in the Federal
Register on March 7, 2007 (72 FR 10038). In that final rule, DOE
explained that when ASHRAE increases the efficiency level for any of
the equipment specified in EPCA section 342(a)(6)(A)(i) vis-[aacute]-
vis the current DOE standards, that action triggers the requirement for
DOE to consider adoption of uniform national standards based on these
changes. 72 FR 10042. In other words, if the revised ASHRAE Standard
90.1 leaves the standard level unchanged or lowers the standard, as
compared to the level specified by the national standard adopted
pursuant to EPCA, DOE does not have the authority to conduct a
rulemaking to consider a higher standard for that equipment pursuant to
42 U.S.C. 6313(a)(6)(A). 73 FR 40771.
In response to DOE's interpretation of the definition of
``amendment,'' the Appliance Standards Awareness Project (ASAP), ACEEE,
the Alliance to Save Energy (ASE), the Natural Resources Defense
Council (NRDC), the Northeast Energy Efficiency Partnership (NEEP), and
the Northwest Power and Conservation Council (NPCC) submitted a joint
comment, referred to as ``the Joint Comment,'' disagreeing with DOE's
position in the March 2009 NOPR. (The Joint Comment, No. 19 at p. 1)
Specifically, the Joint Comment argued that DOE acknowledges that the
ASHRAE standards for several products have been revised relative to
earlier versions. However, the Joint Comment pointed out that DOE takes
an improperly constrained view of the meaning of ``amended,''
arbitrarily ruling out changes such as addition of prescriptive
requirements, changes in metric and decreases in the standard. The
Joint Comment referred to its earlier comments in response to the July
2008 NODA (i.e., the Advocacy Joint Comment, No. 4) for additional
detail and asserted that any of these changes fit within the meaning of
``amended'' and should be considered as changes requiring DOE review.
The Joint Comment stated its belief that DOE has applied an unlawfully
narrow definition to the word ``amendment.'' (The Joint Comment, No. 19
at p. 1)
DOE continues to view the statute's trigger as tied to an increased
energy efficiency level for the affected equipment type. As described
in the March 2007 final rule and the March 2009 NOPR, section 342 of
EPCA requires DOE to establish energy conservation standards for the
commercial equipment contained in this rulemaking at the minimum
efficiency level specified in any amended ASHRAE standard unless more
stringent standards are supported by clear and convincing evidence--in
other words, to maintain uniform national standards consistent with
those set in ASHRAE Standard 90.1 unless more stringent standards are
justified. 72 FR 10042 and 74 FR 12006. Therefore, if ASHRAE has not
amended a standard for a product subject to section 342, there is no
change that would require action by DOE to consider amending the
uniform national standard to maintain consistency with ASHRAE Standard
90.1. Id. If ASHRAE considered amending the standards for a given
equipment type but ultimately chose not to do so, the statutory
requirement that DOE adopt ASHRAE's amended
[[Page 36321]]
standards is not triggered with respect to this equipment. Id. The
statutory language specifically links ASHRAE's action to amend
efficiency levels for specific equipment to DOE's action affecting the
same equipment. Id. Given this statutory scheme, DOE does not agree
with the Joint Comment's suggestion that amendment of the level for any
ASHRAE product opens up the national standards for all ASHRAE products
to potential amendment.
C. DOE's Review of ASHRAE Equipment Independent of the ASHRAE Standards
Process
The Joint Comment asserted that the routine review of efficiency
standards required by the Energy Independence and Security Act of 2007
(EISA 2007), Public Law 110-140, (i.e., section 305(b) of EISA 2007)
clearly intends to establish a structure to review each DOE standard
for ASHRAE covered equipment at least every six years. (The Joint
Comment, No. 19 at pp. 1-2) The Joint Comment pointed out that several
ASHRAE standards were last reviewed in 2001, including commercial water
heaters and commercial furnaces. In the March 2009 NOPR, DOE maintained
that reviews are not due for products for which the six-year clock has
expired prior to enactment of EISA 2007. However, the commenters view
such an interpretation as sheltering these products from further review
by ASHRAE on an indefinite basis. According to the commenters, the
intent of EISA 2007 was to subject all standards to regular reviews,
not to create a haphazard special class with a potentially permanent
exception from periodic DOE review. The Joint Comment took the position
that DOE can rectify this situation by initiating a review of all
ASHRAE standards that have not been changed in more than six years
(e.g., commercial furnaces, commercial water heaters). The Joint
Comment argued that DOE must do so under the EISA 2007 provision. At a
minimum, the Joint Comment asserted that DOE should conduct an initial
analysis to assess potential energy savings from a full-fledged review
of product standards, which have not been updated since the January
2001 final rule (66 FR 3336). (The Joint Comment, No. 19 at pp. 1-2)
In response, DOE acknowledges that section 305(b) of EISA 2007
amended section 342(a)(6) of EPCA by directing DOE to assess whether
there is a need to update the Federal energy conservation standards for
certain commercial equipment (i.e., ASHRAE equipment) after a certain
amount of time has elapsed. The section states that the Secretary must
publish either a notice of determination that standards for a product
do not need to be amended, or a notice of proposed rulemaking including
amended proposed standards within 6 years after the issuance of any
final rule establishing or amending a standard. (42 U.S.C.
6313(a)(6)(C)(i)) In addition, if the Secretary chooses to publish a
notice of determination that the standards for a product do not need to
be amended, a new determination must be issued within 3 years of the
previous determination. (42 U.S.C. 6313(a)(6)(C)(iii)(II)) These
requirements are applicable to small commercial package air
conditioning and heating equipment, large commercial package air
conditioning and heating equipment, very large commercial package air
conditioning and heating equipment, packaged terminal air conditioners,
packaged terminal heat pumps, warm-air furnaces, packaged boilers,
storage water heaters, instantaneous water heaters, and unfired hot
water storage tanks. (42 U.S.C. 6313(a)(6)(A)(i))
DOE believes that the commenters have misconstrued the amendments
in section 305(b) of EISA 2007 by suggesting that the relevant
provisions should be applied retroactively, rather than prospectively.
As stated previously, 74 FR 12007, DOE does not believe Congress
intended to apply these requirements retroactively, which would cause
DOE to be in immediate violation of its legal obligations upon passage
of the statute, thereby failing from its inception. DOE does not agree
with the assertion that DOE is late and should initiate an immediate
review of certain commercial equipment cited by the commenters above.
D. Combination Efficiency Level and Design Requirements in ASHRAE
Standard 90.1-2007
For several classes of equipment, ASHRAE added design requirements
in addition to the efficiency level requirements in ASHRAE Standard
90.1. For example, ASHRAE did not change the efficiency levels for oil-
fired commercial warm air furnaces, but ASHRAE added three design
requirements. ASHRAE Standard 90.1-2007 now specifies that commercial,
oil-fired, warm air furnaces must use an interrupted or intermittent
ignition device, have jacket losses no greater than 0.75 percent of the
input rating, and use a power vent or flue damper.\5\ DOE stated in the
March 2009 NOPR that the language of EPCA authorizes DOE to establish a
performance standard or a single design standard for certain types of
commercial equipment, including oil-fired furnaces. 74 FR 12008-09.
---------------------------------------------------------------------------
\5\ ``Jacket losses'' refer generally to the heat loss to the
surroundings from the furnace, excluding flue losses.
---------------------------------------------------------------------------
The Joint Comment argued that rejecting multi-metric standards
reversed a prior position adopted by DOE in the central air conditioner
rulemaking. (The Joint Comment, No. 19 at p. 2) The Joint Comment
strongly urged the new Administration to reconsider this policy because
multi-metric standards are increasingly important for capturing cost-
effective energy savings. It argued that ASHRAE found that such
standards made sense for commercial furnaces and criticized DOE for not
considering the ASHRAE changes. The Joint Comment stated that energy
use for many products can be moderated through controls strategies,
which are often not represented in a product's test method. (The Joint
Comment, No. 19 at p. 2)
On that point, ASHRAE recommended that DOE consider the role of
prescriptive requirements in the setting of national efficiency levels
for commercial furnaces. (ASHRAE, No. FDMS DRAFT 5.1 at p. 2) ASHRAE
commented that these prescriptive requirements provide critical
characterizations of overall equipment efficiency and total energy use.
According to ASHRAE, these requirements are designed to work in
cooperation with the numerical efficiency metric to achieve greater
levels of energy efficiency than possible through the use of the
numerical metric alone. ASHRAE asserted that as it continues to develop
Standard 90.1 and to decrease the total energy use associated with that
standard, such additional prescriptive requirements likely will become
even more prevalent. It argued that increasing the stringency of
Standard 90.1 will require greater focus on systems as a whole and
consideration of all factors and attributes that contribute to the
energy use associated with that system. In order to achieve the maximum
energy efficiency envisioned by the standard, ASHRAE strongly
encouraged DOE to reconsider its policy of not including accompanying
prescriptive requirements in its energy conservation analysis. (ASHRAE,
No. FDMS DRAFT 5.1 at p. 2)
DOE notes that its response to this issue is grounded in the
requirements of EPCA, not DOE policy, and that the commenters offered
no other plausible alternative reading of this statutory provision. In
this rulemaking, DOE only reviewed the combination efficiency
[[Page 36322]]
level and design requirements for gas-fired and oil-fired commercial
warm air furnaces because these were the only equipment classes where
DOE's initial review of the efficiency levels in ASHRAE Standard 90.1-
2007 for this equipment revealed a perceived change when compared to
the Federal energy conservation standards for this equipment. As
described in the March 2009 NOPR, DOE has determined that the design
requirements in ASHRAE Standard 90.1-2007 for gas-fired and oil-fired
commercial warm air furnaces are beyond the scope of its legal
authority. 74 FR 12008-10. More specifically, the language of EPCA
authorizes DOE to establish ``energy conservation standards'' that set
either a single performance standard or a single design requirement--
not both. See 42 U.S.C. 6311(18). As such, a standard that establishes
both a performance standard and a design requirement is beyond the
scope of DOE's legal authority, as would be a standard that included
more than one design requirement. In this case, ASHRAE Standard 90.1-
2007 recommends three design requirements. Thus, if DOE were to replace
its existing, performance-based standard with a design requirement, the
statute would not permit adoption of all three design requirements in
ASHRAE Standard 90.1-2007. Furthermore, such a change would also
necessitate an initial DOE determination that the new requirement would
not result in backsliding when compared to the current standards.
E. The Proposed Energy Conservation Standards for Commercial Packaged
Boilers
In the March 2009 NOPR, DOE proposed the efficiency levels in
ASHRAE Standard 90.1-2007 for the ten classes of commercial packaged
boilers. 74 FR 12002. DOE received four comments in response to its
proposal for commercial packaged boilers. Specifically, the Joint
Comment stated its support for DOE's proposal on commercial packaged
boilers. (The Joint Comment, No. 19 at p. 1) Burnham also stated its
support for DOE's direction in the NOPR and urged DOE to issue a final
rule as soon as possible. (Burnham, Public Meeting Transcript, No. 12
at p. 96) AHRI stated that it agrees with DOE's direction in the NOPR
and pointed out that there is a ``residual value'' in transitioning
from the combustion efficiency metric to the thermal efficiency metric
for commercial packaged boilers. (AHRI, Public Meeting Transcript, No.
12 at pp. 97-98) ASHRAE commended DOE for its proposed handling of
commercial packaged boilers in the March 2009 NOPR. ASHRAE pointed out
consensus agreements between manufacturers and energy-efficiency
advocates provide a valuable means of improving energy efficiency with
necessary consideration for technological and economic feasibility, as
DOE has acknowledged. (ASHRAE, No. FDMS DRAFT 5.1 at p. 1)
Lastly, DOJ concluded that the proposed standards for commercial
packaged boilers are not likely to have an adverse effect on
competition. (DOJ, No. 15 at p. 2) In reaching this conclusion, DOJ
noted the absence of any competitive concerns raised by industry
participants at the public meeting. In addition, DOJ noted the
efficiency levels in the proposed standards are based on a consensus
recommendation submitted to ASHRAE by efficiency advocacy groups and
the trade association for manufacturers of commercial packaged boilers.
Based on these facts, DOJ stated its belief that the new standard would
not likely reduce competition. Id.
F. Commercial Electric Instantaneous Water Heaters
SEISCO INTERNATIONAL (SEISCO) commented that it has been (and would
continue to be) significantly adversely affected by DOE's decisions not
to create a product class for electric tankless water heaters having an
output rated greater than 12 kilowatts, as well as to exclude the
advanced electric tankless and electric resistance storage tank from
the ENERGY STAR program. (SEISCO, No. 17 at p. 1) SEISCO's comments
asserted that this type of equipment would provide energy savings
benefits when compared to traditional storage-type water heaters.
(SEISCO, No. 17 at p. 8)
While DOE acknowledges SEISCO's concerns with regard to the product
classes for electric tankless water heaters, these concerns are beyond
the scope of this rulemaking. Currently, ASHRAE Standard 90.1 does not
include an efficiency level or a prescriptive requirement for
commercial electric tankless water heaters. In order for DOE to
consider amendments, ASHRAE must amend Standard 90.1 to add test
procedures and efficiency levels for these equipment types. In
addition, DOE notes that it is not addressing SEISCO's concerns
regarding the ENERGY STAR program for electric tankless and electric
resistance storage water heaters because it is not part of the ASHRAE
rulemaking process.
IV. General Discussion of the Changes in ASHRAE Standard 90.1-2007 and
Determination of Scope for Further Rulemaking Analyses
As discussed above, before beginning an analysis of economic
impacts and energy savings that would result from adopting the
efficiency levels specified by ASHRAE Standard 90.1-2007 or more-
stringent efficiency levels, DOE first sought to determine whether the
amended Standard 90.1 efficiency levels represented an increase in
efficiency above the current Federal standard levels. DOE discussed
each equipment class where these levels differ from the current Federal
standard level, along with DOE's preliminary conclusion as to the
action DOE would take with respect to that equipment in the March 2009
NOPR. See 74 FR 12008-20. DOE tentatively concluded from this analysis
that the only efficiency levels that represented an increase in
efficiency above the current Federal standards were those for certain
classes of commercial packaged boilers and water cooled and
evaporatively cooled commercial package air conditioners and heat pumps
with a cooling capacity at or above 240,000 Btu/h and less than 760,000
Btu/h. For a more detailed discussion of this approach, readers should
refer to the preamble to the March 2009 NOPR. See Id. DOE received no
additional comments on this topic in response to the March 2009 NOPR,
so DOE is using the same approach in this final rule.
V. Methodology and Discussion of Comments for Commercial Packaged
Boilers
This section provides a brief overview of the analyses DOE has
performed for this rulemaking with respect to commercial packaged
boilers and the comments received in response to the March 2009 NOPR. A
separate subsection addresses each analysis and its respective
comments. DOE used a spreadsheet to calculate the LCCs and PBPs of
potential amended energy conservation standards. DOE used another
spreadsheet to provide shipments forecasts and then calculate national
energy savings and net present value impacts of potential amended
energy conservation standards.
This section also briefly describes the amendments to the DOE test
procedure for commercial packaged boilers to require testing in terms
of thermal efficiency, consistent with the amended efficiency levels in
ASHRAE Standard 90.1-2007. DOE described all of the test procedure
changes it is adopting in
[[Page 36323]]
today's final rule in the March 2009 NOPR. See 74 FR 12020-22.
A. Test Procedures
Section 343(a) of EPCA (42 U.S.C. 6314(a)) requires the Secretary
to amend the test procedures for packaged boilers to be the latest
version generally accepted by industry or the rating procedures
developed or recognized by the Air-Conditioning and Refrigeration
Institute (ARI) \6\ or by ASHRAE, as referenced by ASHRAE/IESNA
Standard 90.1, unless the Secretary determines by clear and convincing
evidence that the latest version of the industry test procedure: (1) Is
not reasonably designed to produce results reflecting energy
efficiency, energy use, and estimated operating costs and (2) would be
unduly burdensome to conduct. Additionally, if the procedure is one
used for determining estimated annual operating costs, the procedure
must provide that the costs are calculated from energy use measurements
in a representative average use cycle and from representative average
unit costs of the energy needed to operate the equipment during the
cycle. (42 U.S.C. 6314(a)(4)(B) and 42 U.S.C. 6314(a)(3)) DOE published
a final rule on October 21, 2004, that amended its test procedure for
commercial packaged boilers to incorporate by reference the industry
test procedure for commercial packaged boilers, the Hydronics Institute
(HI) division of the Gas Appliance Manufacturer's Association (GAMA)
Boiler Testing Standard BTS-2000, ``Method to Determine the Efficiency
of Commercial Space Heating Boilers'' (HI BTS-2000). 69 FR 61949. This
rulemaking responded to ASHRAE's action in ASHRAE Standard 90.1-1999 to
revise the test procedures for certain commercial equipment, including
commercial packaged boilers.
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\6\ The Air-Conditioning and Refrigeration Institute (ARI) and
the Gas Appliance Manufacturers Association (GAMA) announced on
December 17, 2007, that their members voted to approve the merger of
the two trade associations to represent the interests of cooling,
heating, and commercial refrigeration equipment manufacturers. The
merged association became AHRI on January 1, 2008.
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In 2007, AHRI made several changes to BTS-2000 (Testing Standard
for Commercial Space Heating Boilers) and reaffirmed the continued use
of BTS-2000 (Rev 06.07) as the recommended testing standard. As noted
in the NOPR, DOE believes the revised BTS-2000 (Rev 06.07) is
reasonably designed to produce results reflecting energy efficiency,
energy use, and estimated operating costs, and is not unduly burdensome
to conduct. 74 FR 12020. Therefore, DOE is amending the uniform test
procedure for commercial packaged boilers to incorporate by reference
HI BTS-2000 (Rev 06.07). In addition, for the reasons described in the
NOPR, DOE is removing the incorporation by reference of, and any
references to, the American Society of Mechanical Engineers (ASME)
Power Test Codes for Steam Generating Units, ASME PTC 4.1-1964,
reaffirmed 1991 (including 1968 and 1969 addenda) (ASME PTC 4.1) as an
alternate test method for rating the efficiency of steel commercial
packaged boilers.\7\ 74 FR 12020. DOE is making this change because
this particular test method is no longer an approved method of rating
the efficiency of steel commercial packaged boilers under DOE's
regulations. Eliminating the references to ASME PTC 4.1 in the CFR does
not introduce any changes to the test procedure for this equipment; it
simply removes obsolete references. Manufacturers are required to test
all steel boilers using the method that references the HI BTS-2000 test
procedure, as they have been since October 23, 2006.
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\7\ In the October 2004 test procedure final rule for commercial
packaged boilers, DOE also incorporated by reference the American
Society of Mechanical Engineers (ASME) Power Test Codes for Steam
Generating Units, ASME PTC 4.1-1964, reaffirmed 1991 (including 1968
and 1969 addenda) (ASME PTC 4.1) as an alternate test method for
rating the efficiency of steel commercial packaged boilers only. 69
FR 61956 (Oct. 21, 2004). DOE provided ASME PTC 4.1, with
modifications, as an alternate test procedure for steel commercial
packaged boilers because many manufacturers of steel boilers were
unfamiliar with HI BTS-2000 and its predecessor, HI-1989, and
typically tested their boilers using the ASME PTC 4.1 test
procedure. Id. at 61951. DOE designated a transition period for
manufacturers to convert from using the ASME PTC 4.1 test procedure
to the HI BTS-2000 test procedure. Id. This would allow
manufacturers of steel boilers an opportunity to become familiar
with HI BTS-2000 and ensure that their equipment would be able to
comply with EPCA standards using that procedure. Id. at 61956. DOE
stated that it would allow the use of ASME PTC 4.1 as an alternate
test procedure for two years after the publication of the October
2004 final rule. Id. The transition period ended on October 23,
2006, and now all commercial boilers are required to be tested using
the HI BTS-2000 test procedure. 10 CFR 431.86.
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Currently, the uniform test method for the measurement of energy
efficiency of commercial packaged boilers requires that only the
combustion efficiency be tested and calculated in accordance with the
HI BTS-2000. 10 CFR 431.86(c)(1)(ii). In this final rule, DOE is
adopting as Federal energy conservation standards several thermal
efficiency levels described in ASHRAE Standard 90.1-2007 that were
proposed in the NOPR. For this reason, DOE is amending the definitions
in 10 CFR 431.82 to incorporate the definition of ``thermal
efficiency'' as written in section 3.0 of the HI BTS-2000 (Rev 06.07)
test procedure and proposed in the NOPR. 74 FR 12021. Thus, DOE is
adding the definition of ``thermal efficiency'' to 10 CFR 431.82 to
read as follows: ``Thermal efficiency for a commercial packaged boiler
is determined using test procedures prescribed under Sec. 431.86 and
is the ratio of the heat absorbed by the water or the water and steam
to the higher heating value in the fuel burned.''
In addition to adding the definition of ``thermal efficiency'' to
its regulations, DOE is amending the definition of ``combustion
efficiency,'' as proposed and described in the NOPR, to remove the
language defining the term as ``the efficiency descriptor for packaged
boilers.'' 74 FR 12021. Thus, DOE is amending the definition of
``combustion efficiency'' in 10 CFR 431.82 to read as follows:
``Combustion efficiency for a commercial packaged boiler is determined
using the test procedures prescribed under Sec. 431.86 and equals 100
percent minus percent flue loss (percent flue loss is based on input
fuel energy).''
DOE is amending 10 CFR 431.86 (Uniform test method for measurement
of energy efficiency of commercial packaged boilers) to include
requirements for the measurement and rating of thermal efficiency for
those commercial packaged boiler equipment classes where the thermal
efficiency metric is being used in today's final rule, after the
effective date of this rulemaking (i.e., March 2, 2012). DOE is also
amending 10 CFR 431.86 to specify that combustion efficiency should be
measured and rated for the two commercial packaged boiler equipment
classes where the combustion efficiency metric is being used in today's
final rule (i.e., large gas hot water and large oil hot water
commerci