Energy Conservation Program for Consumer Products: Decision and Order Denying a Waiver to PB Heat, LLC From the Department of Energy Residential Furnace and Boiler Test Procedures, 25228-25234 [2010-10815]
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25228
Federal Register / Vol. 75, No. 88 / Friday, May 7, 2010 / Notices
Commission (FTC) regulations. When
making such supplemental statements
in the product literature, manufacturers
Issued in Washington, DC, on April 30,
must continue to conduct, report, and
2010.
lllllllllllllllllllll fairly disclose the AFUE test results
generated under the DOE test
Cathy Zoi,
procedures, and to use those AFUE
Assistant Secretary, Energy Efficiency and
Renewable Energy.
results when making representations as
to the basic model’s energy efficiency.
[FR Doc. 2010–10813 Filed 5–6–10; 8:45 am]
Supplemental statements regarding
BILLING CODE 6450–01–P
LWTSE must fairly disclose the results
of such testing and may not mislead the
consumer about the relevance of the
DEPARTMENT OF ENERGY
required AFUE value. For example, DOE
Office of Energy Efficiency and
suggests any manufacturer that wishes
Renewable Energy
to show the LWTSE values in addition
to the AFUE value should make clear
[Docket Number: EERE–BT–2006–WAV–
the differences between the two tests,
0140]
including the different operating
characteristics and conditions, for
Energy Conservation Program for
consumers.
Consumer Products: Decision and
Order Denying a Waiver to PB Heat,
DATES: This Decision and Order is
LLC From the Department of Energy
effective May 7, 2010.
Residential Furnace and Boiler Test
FOR FURTHER INFORMATION CONTACT: Mr.
Procedures
Mohammed Khan, U.S. Department of
Energy, Building Technologies Program,
AGENCY: Office of Energy Efficiency and
EE–2J, 1000 Independence Avenue,
Renewable Energy, Department of
SW., Washington, DC 20585–0121.
Energy (DOE).
Telephone: (202) 586–7892. E-mail:
ACTION: Decision and Order.
Mohammed.Khan@ee.doe.gov.
Ms. Francine Pinto or Mr. Eric Stas,
SUMMARY: This notice publishes DOE’s
U.S. Department of Energy, Office of the
Decision and Order in Case No. WAV–
0140, which denies a waiver to PB Heat, General Counsel, GC–71, 1000
Independence Avenue, SW.,
LLC (PB) from the existing DOE
Washington, DC 20585–0121.
residential furnace and boiler test
Telephone: (202) 586–9507. E-mail:
procedure. This Decision and Order
Francine.Pinto@hq.doe.gov or
pertains to PB’s PO–50, PO–60, PO–63,
Eric.Stas@hq.doe.gov.
and PO–73 models of oil-fired boilers.
For access to the docket to read this
DOE previously published the PB
notice, the Petition for Waiver,
Petition for Waiver and solicited
background documents, or comments
comments, data, and information
received, please call Ms. Brenda
regarding the petition, which requested
Edwards at (202) 586–2945 for
permission to publish a Low Water
information regarding visiting the
Temperature Seasonal Efficiency
Resource Room of the Building
(LWTSE) value, conducted under an
Technologies Program. The Resource
alternative industry test procedure, in
Room is accessible at the U.S.
addition to the mandatory Annual Fuel
Department of Energy, 950 L’Enfant
Utilization Efficiency (AFUE) value
Plaza, SW., Suite 600, Washington, DC,
required under DOE’s energy
between 9 a.m. and 4 p.m., Monday
conservation standards. PB’s petition
through Friday, except Federal holidays.
suggested that testing and reporting of
the AFUE value alone is not
SUPPLEMENTARY INFORMATION: In
representative of its basic models’ true
accordance with 10 CFR 430.27(l), DOE
energy consumption characteristics.
gives notice of the issuance of its
DOE denies PB’s Petition for Waiver for Decision and Order as set forth below.
the reasons set forth below. Because a
In this Decision and Order, DOE denies
waiver is not appropriate, DOE cannot
PB’s request for a waiver from the
prescribe an alternative test procedure.
existing DOE residential furnace and
However, the Decision and Order
boiler test procedure for its PO–50, PO–
clarifies that it is permissible for a
60, PO–63, and PO–73 models of oilmanufacturer to conduct LWTSE testing fired boilers. DOE denies the waiver
and to present such results in product
because: (1) The PB units can and do
literature. It is noted that the Energy
operate at the higher water temperatures
Guide label used for certification and
specified in the DOE test procedure; (2)
consumer information purposes can
there is no indication that the existing
only present information generated
test procedure generates inaccurate
under the DOE test procedure, as
results at the specified temperatures;
required under applicable Federal Trade and (3) the PB units meet the AFUE
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unrepresentative of the basic models’
true energy consumption characteristics.
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level required under the energy
conservation standard. Accordingly,
DOE has determined that the applicable
test procedure is representative of the
energy consumption characteristics of
the PB basic models at the specified
conditions (i.e., water temperatures) and
that the DOE test procedures for these
residential products will allow PB to
test and rate its above-referenced line of
oil-fired boilers.
DOE clarifies that it is permissible for
a manufacturer to conduct LWTSE
testing and present the results in
product literature (other than
supplementation of the certification
label, which can only present
information generated under the DOE
test procedure, as required under
applicable FTC regulations). When
making such supplemental statements
in product literature, manufacturers
must continue to conduct, report, and
fairly disclose the AFUE test results
generated under the DOE test
procedures (10 CFR 430.62(a)(4)(viii)),
and to use AFUE results when making
representations as to the basic model’s
energy efficiency (42 U.S.C. 6293(c)(1)).
Supplemental statements regarding
LWTSE must fairly disclose the results
of such testing and may not mislead the
consumer about the relevance of the
required AFUE value. For example, DOE
suggests any manufacturer that wishes
to show the LWTSE values in addition
to the AFUE value should make clear
the differences between the two tests,
including the different operating
characteristics and conditions, for
consumers.
Issued in Washington, DC, April 30, 2010.
Cathy Zoi,
Assistant Secretary, Energy Efficiency and
Renewable Energy.
Decision and Order
In the Matter of: PB Heat, LLC (PB)
(Case No. WAV–0140).
Authority
Title III of the Energy Policy and
Conservation Act of 1975 (EPCA), as
amended, sets forth a variety of
provisions concerning energy efficiency,
including Part A 1 of Title III, which
establishes the ‘‘Energy Conservation
Program for Consumer Products Other
Than Automobiles.’’ (42 U.S.C. 6291–
6309) Similarly, Part A–1 2 of Title III of
EPCA, 42 U.S.C. 6311–6317, provides
for an energy efficiency program titled,
1 This part was originally titled Part B. It was
redesignated Part A in the United States Code for
editorial reasons.
2 This part was originally titled Part C. It was
redesignated Part A–1 in the United States Code for
editorial reasons.
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‘‘Energy Efficiency Program for Certain
Commercial and Industrial Equipment.’’
(42 U.S.C. 6311–6317)
In general, Part A of Title III also
provides for test procedures, labeling,
and energy conservation standards for a
variety of covered consumer products,
including residential furnaces and
boilers, and it authorizes DOE to require
information and reports from
manufacturers. With respect to test
procedures, the statute generally
authorizes the Secretary of Energy (the
Secretary) to prescribe test procedures
that are reasonably designed to produce
results which reflect energy efficiency,
energy use, and estimated annual
operating costs, and that are not unduly
burdensome to conduct. (42 U.S.C.
6293(b)(3)) The statute further provides
that no manufacturer, distributor,
retailer, or private labeler may make any
representation in writing (including on
a label) or in any broadcast
advertisement with respect to the energy
use or efficiency (or water use) of a
covered product to which a DOE test
procedure is applicable, unless such
product has been tested in accordance
with such test procedure and such
representation fairly discloses the
results of such testing. (42 U.S.C.
6293(c)(1))
In relevant part, EPCA requires that
DOE prescribe standardized test
procedures to measure the energy
consumption of residential furnaces and
boilers in terms of the AFUE metric. (42
U.S.C. 6291(22)(A)) DOE adopted test
procedures for residential furnaces and
boilers which are codified at 10 CFR
430.23(n) and at 10 CFR 430, subpart B,
appendix N (‘‘Uniform Test Method For
Measuring the Energy Consumption of
Furnaces and Boilers’’). The DOE test
procedure incorporates by reference
provisions of the American National
Standards Institute (ANSI)/American
Society of Heating, Refrigerating and
Air-Conditioning Engineers, Inc.
(ASHRAE) Standard 103–1993, ‘‘Method
of Testing for Annual Fuel Utilization
Efficiency of Residential Central
Furnaces and Boilers.’’ The test
procedure prescribes a standardized
method for measuring the energy
consumption of various types of
furnaces and boilers. Further, the test
procedure measurements can be used in
determining model-specific energy
consumption information to assist
consumers in making purchasing
decisions.
DOE’s regulations set forth under 10
CFR 430.27 contain provisions that
enable a person to seek a waiver from
the test procedure requirements for a
covered consumer product under the
following circumstances. Any interested
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person may submit a petition for waiver
upon the grounds that the basic model
contains a design characteristic which
either prevents testing of the basic
model according to the prescribed test
procedures, or the prescribed test
procedures may evaluate the basic
model in a manner so unrepresentative
of its true energy consumption
characteristics as to provide materially
inaccurate comparative data. 10 CFR
430.27(a)(1).
Furthermore, the regulations
authorize the Assistant Secretary for
Energy Efficiency and Renewable
Energy (Assistant Secretary) to grant an
Interim Waiver from test procedure
requirements applicable to a particular
basic model of consumer product, if it
is determined that the applicant will
experience economic hardship if the
Application for Interim Waiver is
denied, if it appears likely that the
Petition for Waiver will be granted, and/
or the Assistant Secretary determines
that it would be desirable for public
policy reasons to grant immediate relief
pending a determination on the Petition
for Waiver. 10 CFR 430.27(g). An
Interim Waiver will remain in effect for
180 days or until DOE issues its
determination on the Petition for
Waiver, whichever occurs first. Further,
an Interim Waiver may be extended for
an additional 180 days. 10 CFR
430.27(h).
Assertions and Determinations
PB submitted a Petition for Waiver
from the temperature requirements
listed in ASHRAE Standard 103–1993,
with errata of October 24, 1996, which
are incorporated into appendix N to
subpart B of 10 CFR Part 430. The
Petition for Waiver is based on the
grounds that ‘‘ ‘the prescribed test
procedures may evaluate the basic
model in a manner so unrepresentative
of its true energy consumption
characteristics’ ’’ [as to provide
materially inaccurate comparative data].
71 FR 46460, 46463 (August 14, 2006).
In its petition, PB requested that in
addition to the mandatory reporting of
AFUE, it be allowed to also provide an
LWTSE efficiency measure for its oilfired boilers based upon testing under
the procedures in Appendix F of
ASHRAE Standard 103–2003 (Public
Review Draft).3 Id. at 46463–64.
3 The Review Draft is currently part of ASHRAE
Standard 103–2007 as an informative appendix.
ASHRAE Standard 103–2007 states, ‘‘This appendix
is not part of the standard. It is merely informative
and does not contain requirements necessary for
conformance to the standard. It has not been
processed according to the ANSI requirements for
a standard and may contain material that has not
been subject to public review or a consensus
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1. PB Petition for Waiver
On March 27, 2006, PB filed a petition
requesting that it be permitted to
publish an LWTSE value in conjunction
with the AFUE value that is the result
of testing under 10 CFR part 430,
subpart B, appendix N (i.e., the test
procedures for residential furnaces and
boilers). At specific issue in the PB
Petition are its PO–50, PO–60, PO–63
and PO–73 models of oil-fired boilers.
PB stated that the AFUE value from the
prescribed test procedure may result in
an evaluation of the basic model that is
unrepresentative of its true energy
consumption characteristics. PB did not
request to rely on the LWTSE metric in
lieu of the AFUE metric, but instead
requested permission to publish both
values for its residential boilers. DOE’s
current test procedure does not provide
for LWTSE testing, which represents a
variant of AFUE under different
operating conditions (i.e., lower return
water temperatures).
DOE understands that residential
boilers are typically used either with
baseboard convector or radiant floor
heating systems that circulate water in
a closed-loop fashion. Originating at the
boiler, heated water is pumped to the
convectors or radiant floor coils. As the
water passes through the convectors or
floor coils, heat is extracted, and the
water is cooled. The heated water
exiting the boiler is termed ‘‘supply
water,’’ and the cooled water entering
the boiler is termed, ‘‘return water.’’ For
any given system, the return water
temperature is directly related to the
supply water temperature, which can be
set at the boiler. Also, the return water
temperature is a function of a house’s
heating load and the effectiveness of
either the convector or radiant floor coil
system. Different heating systems and
heating control systems may provide
different water temperatures. For
example, supply and return water
temperatures are typically lower for a
radiant floor coil system than a
convector system. Nevertheless, to
uniformly test and compare the AFUE of
different residential boiler heating
systems, the procedure in 10 CFR part
430, subpart B, appendix N specifies the
use of standardized supply and return
water temperatures for measuring the
AFUE. As part of the petition, PB
asserted that the specified temperatures
do not suitably match the expected
performance characteristics of the
process. Unresolved objectors on informative
material are not offered the right to appeal to
ASHRAE or ANSI.’’ However, for ease of discussion,
this document will continue to refer to ASHRAE
Standard 103–2003, as specified in PB’s original
petition.
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subject boiler units, and consequently,
the prescribed test procedures under 10
CFR 430.23(n)(2) and in 10 CFR part
430, subpart B, appendix N, evaluate the
subject boiler models in a manner that
is unrepresentative of their true energy
consumption characteristics in the field.
PB stated that if a boiler is used with
radiant floor heating systems, the return
and supply water temperatures are far
lower than those seen with baseboard
convector systems. Similarly, PB stated
that if a boiler is used with baseboard
convector heating systems, in
combination with outdoor reset
controls, the supply water temperatures
can be lower than that specified in the
DOE test procedure for some fraction of
the heating season. In its petition, PB
also asserted that because the boilers in
question are supplied with an outdoor
reset control from the manufacturer, the
boilers installed with either radiant
floor heating systems or baseboard
convector heating systems are capable of
achieving condensing conditions, and
increased efficiency and reduced energy
use, during warmer periods of the
heating season.
In particular, PB asserted that its oilfired boiler models PO–50, PO–60, PO–
63, and PO–73 achieve fully-condensing
conditions at return water temperatures
that are below the 120 degrees
Fahrenheit (EF) return water
temperature required under the test
procedure at 10 CFR 430.23(n)(2) and 10
CFR 430, subpart B, appendix N.
According to PB, these oil-fired boilers
are designed to operate in lowtemperature applications, and are
supplied with an outdoor reset control
that can allow the boiler to operate with
lower return water temperatures for
much of the heating season.
In contrast, the DOE test procedure
prescribed for boilers, under 10 CFR
430.23(n) and 10 CFR part 430, subpart
B, appendix N, requires a return water
temperature of 120 °F. PB asserted that
the DOE test procedure will not reflect
the efficiency that its boilers are capable
of achieving due to the variations in the
return water temperature. Instead, PB
argued that the procedure described in
ASHRAE Standard 103–2003, which
uses a nominal return water temperature
of 90 °F and a nominal supply water
temperature of 110 °F, would better
represent the seasonal efficiency of its
boilers. PB believes that a waiver
permitting publication of LWTSE would
allow customers making purchasing
decisions to ‘‘receive the greatest
seasonal efficiency, save money on fuel
costs and apply for the Energy Tax
Credit that is part of the Federal Energy
Bill of 2005.’’ 71 FR 46460, 46464
(August 14, 2006).
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2. Factors To Consider in Granting or
Evaluating a Petition
DOE understands that PB is seeking a
waiver of the test procedure
requirements for return water
temperature under 10 CFR 430.23(n)(2),
because the petitioner asserts that the
test procedure may evaluate its boiler
models PO–50, PO–60, PO–63, and PO–
73 in a manner so unrepresentative of
their true energy consumption
characteristics as to provide materially
inaccurate comparative data. Also, DOE
understands that PB seeks to use an
alternative test procedure (i.e., draft
ASHRAE Standard 103–2003), which
specifies lower supply and return water
temperatures than required in DOE’s
test procedure and a different seasonal
efficiency metric. In addition, PB
requested permission to publish an
LWTSE in addition to AFUE for its
residential boilers.
In light of the above, DOE considered
the potential impacts of testing
condensing boilers under lower water
temperatures, as suggested by PB. In its
notice publishing PB’s Petition for
Waiver, DOE expressed concern that the
reliability of the approach suggested by
PB in fact depends upon different
seasonal and heating conditions that can
vary from house to house, such as
heating load profile that is a function of
geographic location, temperature of the
return water necessary for condensation,
and the performance of a particular
house’s baseboard convectors or radiant
floor heating system. DOE also
tentatively concluded that appendix F
of the draft ASHRAE Standard 103–
2003 (which specifically states it is
intended for radiant floor heating
systems) does not take into account how
often a boiler will operate in the
condensing mode with a baseboard
convector system, even with an outdoor
reset control. Thus, it may not
accurately reflect ‘‘annualized’’
efficiency, which could cause confusion
to consumers making a purchasing
decision. Further, DOE understands
from the PB petition that outdoor reset
controls are ‘‘supplied’’ with its boilers.
However, it is unclear whether such
controls are an integral part of the boiler
itself or a separate mechanism for
installation in the field. If these control
mechanisms are field-installed, DOE
cannot be certain that a boiler would be
equipped with the intended outdoor
controls, which ultimately impact the
annual energy use of the unit. It is
DOE’s understanding that the outdoor
temperature reset does not replace the
safety mechanisms in place for
residential boilers, which prevent them
from operating at temperatures well
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above the DOE test procedure
conditions. Finally, DOE questioned
whether granting a waiver to PB could
result in LTWSE ratings for its oil-fired
boiler models PO–50, PO–60, PO–63,
and PO–73 that do not enable uniform
comparison with the ratings of other oilfired boilers. 71 FR 46460, 46461
(August 14, 2006).
Discussion of Comments
DOE announced in the Federal
Register the PB Petition for Waiver, the
potential use of draft ASHRAE Standard
103–2003, appendix F as an alternative
test procedure for residential oil-fired
furnaces and boilers, a calculation
methodology for LWTSE, and a request
for public comments. 71 FR 46460
(August 14, 2006).
In particular, DOE requested
comments on the following questions:
• Does the DOE test procedure
provide results that are unrepresentative
of the PB PO–50, PO–60, PO–63, and
PO–73 models of oil-fired boilers’
energy consumption so as to provide
materially inaccurate comparative data
in all installations?
• Were PB to be granted a waiver,
would it lead to a proliferation of
petitions for waiver for other oil-fired
boilers?
• Is the DOE test procedure
appropriate for boilers used with
baseboard convector heating systems?
• Are there other metrics that can be
used to assess the performance of lowwater-temperature boilers used with
baseboard heating systems?
• Is it appropriate for PB to use the
proposed alternate test procedures for
ratings and representations, and
compliance with energy efficiency
standards, building codes, and
regulatory requirements?
• Should the Department prescribe
for manufacturers the LWTSE for lowwater-temperature boilers?
Id. at 46462.
In response, DOE received comments
from seven interested parties. The
comments appear in Docket No. EERE–
BT–2006–WAV–0140. (See the FOR
FURTHER INFORMATION CONTACT section
in this notice for further information
about access to the docket.) The
following discussion identifies each
interested party and summarizes its
relevant comments.
(1) Bradford White Corporation
Bradford White Corporation (BWC)
generally opposed the Petition for
Waiver and commented that lowering
the supply water temperature (140 °F)
and the return water temperature (120
°F) specified in ASHRAE Standard 103–
1993 to 110 °F and 90 °F, respectively,
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(2) National Oilheat Research Alliance
National Oilheat Research Alliance
(NORA) generally favored the PB
Petition for Waiver and provided several
assertions to substantiate its position.
First, the oil heating industry has
objected to the AFUE rating procedure
because it fails to recognize the benefits
that controls and electronics may have
on overall system efficiency. Second,
NORA stated that the current test
procedure for AFUE does not serve the
interests of consumers because it does
not allow the measurement of an
oilheating boiler when it is fully
condensing. Third, NORA argued that
the operating system controls, including
use of an outside reset feature, can
adjust boiler water temperatures to meet
particular heating loads, thereby
improving efficiency over a range of
weather conditions. (NORA, 8 at p.1,2)
manufacturers. However, AFUE can
only be used for relative comparisons
between boilers and not absolute
expectations of fuel consumption,
because the actual efficiency of a boiler
depends on many factors that vary from
house to house and the current test
procedure requires a steady state
condition for return water temperature.
As an example, ECRI states that the
performance of a unit configured with
an outdoor reset feature and indirect
domestic hot water heating will be
different from a system without such
features and that return water
temperatures vary in any one demand
cycle. (ECR, 6 at p.1)
In response to the above questions
raised by DOE, ECRI offered the
following comments. First, ECRI
generally stated that AFUE and LWTSE
metrics are not comparable. ECRI
opined that the LWTSE metric would
provide a higher efficiency value using
the same test method due to differences
in operating temperatures. Second, if
DOE grants PB a waiver, ECRI will
apply for and expect to receive a waiver
for its products (both gas and oil types),
and the result would be an increase of
one to three percentage points of
efficiency. Third, the current test
procedure is appropriate for boilers
used in baseboard applications, because
AFUE enables comparisons between
various boiler types. Fourth, the current
use of AFUE allows for comparisons of
low-water-temperature boilers. Fifth, it
is not appropriate to use the LWTSE
rating for compliance with energy
efficiency standards, because reducing
the water temperature would reduce the
validity of the testing protocol. Overall,
ECRI asserted that DOE should not
substitute AFUE with LWTSE, and
instead, ECRI recommended using
LWTSE as a supplement to an AFUE
rating to provide consumers with
additional information on condition that
the information is not confusing to
consumers. (ECRI, 6 at p.2,3)
(3) ECR International, Inc.
ECR International, Inc. (ECRI) strongly
urged DOE to deny the PB Petition for
Waiver. In general, ECRI did not object
to the supplemental use of LWTSE for
marketing and informational purposes.
However, ECRI asserted that the AFUE
test results under DOE’s test conditions
must be clearly distinguished from the
optional LWTSE metrics to prevent
consumer confusion. Notwithstanding
the above, ECRI objected to the PB
Petition for Waiver for the following
reasons. According to ECRI, AFUE
provides a common standard by which
a consumer can make a logical
comparison between boiler models and
(4) Burnham Hydronics
In general, Burnham Hydronics (BH)
agreed with PB that the current test
procedure underestimates boiler
efficiency in low-temperature
applications, but it stated that all
condensing boilers are disadvantaged in
this way, so there should be no waiver.
Further, BH opined that if a waiver were
granted, there would not be a
proliferation of waivers from the two
manufacturers of oil-fired boilers, but
there would be a proliferation of
waivers from the more than twenty
manufacturers of gas-fired boilers. BH
stated its belief that the current test
procedure overestimates the efficiency
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as PB requests, could increase the rated
AFUE for all other boilers, especially
condensing types. Further, BWC stated
that the condensing products on today’s
market, including those with outdoor
temperature reset controls, are currently
rated according to the existing test
procedures. In response to the above
questions, BWC opined that the current
test procedure (10 CFR 430.23(n)(2))
‘‘does not provide materially inaccurate
comparative data.’’ (BWC, 9 at p.1)
Instead, BWC suggested that it is
designed to select a single set of
operating conditions that a boiler may
see in service and measure efficiency at
that point. This single operating test
point allows consumers to compare data
across available models and
manufacturers. BWC asserted that the
current test procedure is appropriate for
boilers used with baseboard convector
systems, and that creating other ratings
would confuse the market and
consumers by creating a matrix of boiler
types, system types, operating
temperatures, and so forth. (BWC, 9 at
p.2)
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of boilers that are used in baseboard
heating systems, and underestimates the
efficiency of boilers used in condensing
systems. BH asserted that there are no
other metrics that can be used to
measure the performance of low-watertemperature boilers used with baseboard
heating systems, and that it is not
appropriate to use a test procedure for
LWTSE to meet established energy
efficiency standards. As a minimum, BH
reasoned that the current test procedure
puts all condensing boiler
manufacturers on a level playing field.
Lastly, BH commented that DOE could
prescribe LWTSE for low-watertemperature boilers, but only through
the rulemaking process. (BH, 3 at p.1,2)
(5) Brookhaven National Laboratory
Brookhaven National Laboratory
(BNL) commented that the current
AFUE test procedure for boilers
specifies supply and return water
temperatures at 140 °F and 120 °F,
respectively. This return water
temperature is specified both for
condensing and non-condensing boilers.
At this return water temperature, BNL
stated that a gas-fired boiler can
condense, but an oil-fired boiler will
not. Furthermore, due to the lower
water vapor content and lower latent
heat loss, an oil-fired boiler will achieve
higher efficiency than a gas-fired boiler
under non-condensing conditions with
the same excess air and flue gas
temperature. (BNL, 10 at p. 1)
BNL stated its understanding that
actual boiler temperatures can vary
considerably in the field, and that the
temperature in a particular system can
be affected by controls, including
outdoor reset controls. According to
BNL, studies have shown that outdoor
reset controls can enable condensing
oil-fired boilers to operate in a
condensing mode for most of the
heating season, even when used with
baseboard radiators. (BNL, 10 at p. 1)
In response to DOE’s request for
comments on other metrics that can be
considered for low-water-temperature
boilers used with baseboard heating
systems, BNL addressed controls that
provide variable water temperature.
BNL stated that the ASHRAE Special
Products Committee 155 is developing a
test method for commercial boilers that
includes the effects of controls and
variable water temperatures, which
would result in an ‘‘Application
Seasonal Efficiency’’ where controls,
oversize features, and multiple boiler
options can be selected to evaluate
performance in a particular building. In
addition, BNL commented that the
method for ‘‘Determination of Boiler
Performance for Low Water
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Temperature Applications,’’ defined an
appendix to the public review draft
ASHRAE Standard 103, ‘‘Method of
Testing Annual Fuel Utilization
Efficiency of Residential Central
Furnaces and Boilers,’’ was developed
only for information and in particular
for low temperature applications, such
as radiant floor heating. BNL stated that
this optional methodology uses supply
and return water temperatures that are
low enough to allow for condensing
both in oil- and gas-fired boilers, but
because this methodology uses a fixedtemperature water supply, it does not
apply to a system with a variable
temperature water supply. (BNL, 10 at
p. 1, 2)
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(6) Quincy Hydronic Technology, Inc.
Quincy Hydronic Technology, Inc.
(QHT) strongly opposed granting a
waiver to PB, arguing that it would be
unfair to manufacturers that produce
high-efficiency boilers which meet the
required AFUE levels. Moreover, QHT
objected to the AFUE rating system
generally and asserted that it is not only
flawed, but penalizes high-efficiency
products. QHT cited examples of its
B–10 boilers, wall-mounting gas boilers,
and flexible cast iron boilers that
essentially reduce fuel consumption and
are more efficient because of innovative
designs, but such benefits cannot be
demonstrated through the AFUE test
procedure. QHT indicated that, based
on homeowner feedback, AFUE ratings
fail consumers when making purchasing
decisions. QHT opined that if PB were
to receive a waiver, then DOE should
expect requests for waivers from many
manufacturers. QHT argued that DOE
should revise the current test procedure
so that it better reflects the performance
boilers can achieve in actual field use
and to make AFUE more meaningful.
(QHT, 5 at p. 1, 2)
(7) LAARS Heating Systems Company
LAARS Heating Systems Company
(LHSC) opposed granting a waiver to PB
for its line of PO models of oil-fired
boilers. According to LHSC, the change
that PB requests for inlet and outlet
temperatures from the levels currently
specified in ASHRAE Standard 103–
1993 (i.e., from 120 °F/140 °F to 90 °F/
110 °F) would increase the rated AFUE
for these products, as it would for most
other gas-fired and oil-fired boilers, and
in particular condensing boilers.
Further, if a new test procedure
methodology is provided by waiver for
only the PB products, then consumers
would not be able to make reliable
comparisons of AFUE ratings with the
product lines of other manufacturers.
Accordingly, LHSC argued that any
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change in the current test procedure
should be industry-wide. (LHSC, 11 at
p. 1)
In response to DOE’s questions, LHSC
commented that the current test
procedure is not materially inaccurate,
but it is designed for a single set of
operating conditions and measures
efficiency at that point, to enable
consumers to compare data across
available products. Also, LHSC
reasoned that the test procedure is
appropriate for boilers used with
baseboard convector systems that are
typically designed for 180 °F supply/
160 °F return temperatures, which
would result in slightly different
installed operating efficiencies than
rated AFUE. LHSC observed that
existing standards, codes, and other
regulatory requirements rely on the
current test procedures for AFUE, so
providing a unique set of testing
requirements through waiver would
give PB an unfair competitive advantage
in meeting such requirements. In
addition, AFUE is the only metric for
measuring boiler performance,
regardless of boiler or type of heating
system that uses gas-fired or oil-fired
boilers, and introducing other ratings
would cause confusion in the
marketplace. LHSC opined that using
the alternative test procedure for ratings
and representations, as proposed by PB,
would artificially raise the ratings for
products made by PB over the boiler
products of other manufacturers that
test for AFUE under the current test
procedures. Nevertheless, LHSC
asserted that DOE should review and
seek comments on potential changes to
ASHRAE Standard 103 and consider
adoption of appropriate amendments to
the test procedure suitable for
implementation on an industry-wide
basis. (LHSC, 11 at p. 2)
Response to Comments and DOE
Determination
Regarding the responses received to
the above questions raised by DOE and
other issues presented by commenters,
DOE offers the following discussion.
First, DOE asked whether the
currently-prescribed test procedures
may evaluate the PO-series basic model
of oil-fired boiler manufactured by PB in
a manner so unrepresentative of its true
energy consumption characteristics as to
provide materially inaccurate data.
Interested parties commented that
although the current test procedure
measures efficiency at a single operating
point under steady-state conditions, it
nevertheless underestimates boiler
efficiency in low-temperature
applications, and in some cases
penalizes high-efficiency designs. Two
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interested parties objected to the current
test procedure because it does not
consider the benefits that electronic
controls (such as an outdoor
temperature reset feature that can adjust
boiler output temperature to meet a
particular heating need) may have on
overall system efficiency, nor does the
current test procedure allow for
measuring boiler efficiency when it is
fully condensing.
DOE generally divides products for
standard-setting purposes into product
classes by type of energy used, capacity,
or other performance-related feature
affecting energy efficiency. (42 U.S.C.
6295(q)(1)) In the case of residential
boilers, DOE has established product
classes based on fuel type, including
gas-fired and oil-fired units. 10 CFR
430.32(e)(2).
DOE understands that the current test
procedure, at 10 CFR 430.23(n)(2) and
10 CFR part 430, subpart B, appendix N,
measures AFUE at steady-state
operating conditions under certain
supply and return water temperatures.
The test procedure for all oil-fired
boilers, regardless of manufacturer and
across the entire range of efficiencies,
was developed to provide a reasonable
interpretation to the consumer of the
annual fuel utilization efficiency. In
order to do this, DOE requires testing at
specific incoming and exiting water
temperatures to provide a fair
comparison for boilers offered for sale
and to minimize testing burden on
manufacturers. This enables consumers
to make comparisons among various
gas-fired or oil-fired boilers all operating
under the same operating test condition.
While DOE acknowledges that there
are certain design features that could
enhance efficiency which may not be
captured by the current test procedure
and statutory metric, one option would
be for DOE to consider test procedure
revisions in the future, which consider
variations to the water temperatures
experienced by different systems. PB
did not provide any data supplementing
their claims to show how the AFUE is
impacted by varying water
temperatures. In addition, PB also did
not provide any data which would give
DOE an indication of the proportion of
time that the boiler spends operating at
various water temperatures throughout
the year. (Note: DOE realizes such data
would be location and installation
dependent.) Given that the statutory
metric is AFUE, the current test
procedure adequately measures that
metric.
When asked if there would be a
proliferation of petitions for waiver if
PB were granted a waiver, interested
parties that commented on this issue
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predicted that there would be some
petitions for waiver from manufacturers
of oil-fired boilers, and more so from
manufacturers of gas-fired boilers. In
light of the above comments, DOE
understands that there would likely be
many petitions for waiver from the
prescribed test procedures under 10
CFR 430.23(n)(2). However, such
considerations do not affect whether
PB’s Petition for Waiver should be
granted on its merits.
DOE believes that an alternative test
procedure that is based on the
informative appendix F of draft
ASHRAE Standard 103–2003 could
provide consumers with additional
information about system efficiency
under various operating conditions in
the field, such as those used in radiant
heating applications. However, as
mentioned in comments by BNL, the
procedure provided in appendix F does
not address fully the more complicated
issue of variable temperature controls.
DOE asked about the appropriateness
of its test procedure as it relates to
boilers used with baseboard systems.
Interested parties generally commented
that the current test procedure is
appropriate for boilers used with
baseboard convector heating systems. It
does not provide materially inaccurate
comparative data, but is designed
around a single set of operating
conditions, thereby enabling consumers
to compare data and make valid
comparisons between products. DOE
asked whether there are other metrics
that can be used to assess the
performance of low-water-temperature
boilers used with baseboard heating
systems. Interested parties generally
commented that the current test
procedure is appropriate, because it
allows relative comparisons between
low-temperature boilers, and that
creating other ratings could cause
confusion in the marketplace. DOE
agrees that the current test procedure
allows for an effective means for relative
comparisons because the test establishes
a single-point operating condition for all
boilers regardless of how the boilers are
used in actual field installations. For the
same reason however, DOE is sensitive
to the fact that the test procedure cannot
capture the variance in performance of
boilers which might be capable of
different ratings when tested at other
operating conditions (or tested with
certain controls). By requiring testing
under a specific set of operating
conditions, DOE’s test procedure allows
for reasonable representations to be
made of the efficiency, irrespective of
efficiency at other conditions or
manufacturer.
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In response to DOE’s request for
comments on whether it would be
appropriate for PB to use an alternative
test procedure for its ratings,
representations, and compliance with
energy efficiency standards, building
codes, and other regulatory
requirements, interested parties
generally opined that it would not be
appropriate to use a test procedure that
measures LWTSE to meet established
energy efficiency standards or
regulations that are based on AFUE.
Further, because such regulations rely
on the current test procedures for AFUE,
commenters argued that providing a
unique set of testing requirements
would give one manufacturer an unfair
competitive advantage in meeting such
requirements. Further, DOE understands
that the variance in operating
conditions, which impact the efficiency
of the boiler, are not manufacturerspecific or model-specific. If DOE were
to consider any changes, it would do so
in a separate proceeding. DOE agrees
that using LWTSE would be
inappropriate because AFUE is the
established metric, and, in addition, not
deviating from the current AFUE metric
and test procedure would maintain a
method for consistent and equivalent
comparisons of all boilers.
As to whether DOE should prescribe
a test procedure and establish levels for
LWTSE, DOE did not receive specific
comments on the technical merits of
PB’s requested alternative test
procedure as a proposed amendment to
10 CFR part 430, subpart B, appendix
N—Uniform Test Method for Measuring
the Energy Consumption of Furnaces
and Boilers. 71 FR 46460, 46461
(August 14, 2006). Instead, interested
parties commented that if DOE
prescribes a test procedure and standard
for LWTSE, it should be through the
rulemaking process, include the
opportunity for public comments, and
be applied on an industry-wide basis.
Two interested parties generally
addressed the test method defined in
appendix F of the public review draft
ASHRAE Standard 103, and one
interested party said that the method of
test was developed for low-watertemperature applications, such as
radiant floor heating systems, but for
information purposes only. (BNL, 10 at
p.2) The other interested party asserted
that DOE should seek comments on
changes to ASHRAE Standard 103, and
make appropriate changes to the DOE
test procedures. (LHSC, 11 at p.2) DOE
believes the most appropriate approach
presently is to not propose an
amendment prescribing the alternative
test procedure and establishing standard
PO 00000
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Sfmt 4703
25233
levels based on LWTSE. However, DOE
is sensitive to the potential issue of its
current test procedure possibly
underrating the efficiency of some
boilers used in condensing modes/
systems. Accordingly, DOE is receptive
to any comments and suggestions for
workable solutions during any future
DOE activity aimed at revising the test
procedure. DOE believes that a full
understanding of the issue and
identification of the appropriate
approaches to remedying issues can
only be accomplished through a
rulemaking process.
DOE appreciates all of the comments
it received, which have helped DOE
reach a more fully informed decision
regarding the PB Petition. DOE
recognizes the concern raised by some
commenters that the current DOE test
procedure may not equally estimate the
performance of condensing boilers and
non-condensing boilers, and some
commenters believe that the LWTSE test
procedure would better characterize the
efficiency of condensing boilers. DOE
believes, however, that the LWTSE test
procedure, which specifies lower fixed
test temperatures only, may not be
comprehensive enough to either capture
or sufficiently represent the
performance of condensing systems
equipped with certain controls (i.e.,
temperature reset controls) that vary
system operating temperatures. A
revised test procedure that both
accommodates lower water
temperatures and captures the potential
benefits of control strategies may be
required to wholly and accurately
characterize the spectrum of available
boiler products and operating
conditions. Even though DOE
understands that there could be a
variety of operating conditions
experienced in the field, PB has not
shown that the current AFUE test
cannot be applied to these models. In
addition, the test procedures are to
provide reasonable efficiency ratings
across the range of covered oil-fired
boilers, and DOE was not provided
details as to why DOE’s test procedure
does not accurately capture the energy
efficiency of the range of products
currently sold.
In light of the above, DOE has
determined the following in response to
the PB Petition for Waiver. Pursuant to
42 U.S.C. 6291(22)(A), the ‘‘efficiency
descriptor’’ for furnaces (of which
boilers are one type) is annual fuel
utilization efficiency. Because the
efficiency metric for those products are
set by statute, DOE does not have
authority to substitute other metrics to
rate the efficiency of residential
furnaces and boilers. The DOE test
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procedure prescribed at 10 CFR
430.23(n) and contained in 10 CFR part
430, subpart B, appendix N require
AFUE testing of boilers with an inlet
water temperature of 140 °F and an
outlet water temperature of 120 °F. DOE
could, however, consider modifications
to the test conditions in the AFUE test
as part of a separate rulemaking
proceeding if DOE had data showing
different test conditions were more
appropriate.
Even though PB’s Petition for Waiver
requested permission to report
information supplemental to AFUE
rather than to only report different data
expected to be more representative than
AFUE, PB asserted that the DOE test
procedure generates results that are so
unrepresentative of the true energy
consumption characteristics of its basic
models as to provide materially
inaccurate comparative data.
After subsequent inquiry concerning
PB’s assertion and in light of the above,
DOE has determined that the PB boilers
in question can and do operate at the
higher water temperatures specified in
the DOE test procedure. PB did not state
that its units are incapable of operating
at higher water temperatures; DOE
understands the units are neither
shipped with an add-on component nor
equipped with an integral part that
precludes operation at higher water
temperatures. As stated earlier in this
Decision and Order, system water
temperatures are a function of many
factors unrelated to the unit itself and
can range significantly. In the absence of
outdoor temperature reset, the incoming
water temperatures can vary greatly
depending on heating load, installation,
and other factors. Thus, because the PB
boilers can operate at the temperatures
specified in the existing DOE test
procedures, it is appropriate to test at
those temperatures when rating the
unit’s AFUE. Testing in this manner
provides a steady-state test condition
that generates results that can be
compared across a range of products
and manufacturers. PB has provided no
evidence to suggest that the existing test
procedure generates results that are
either inaccurate or are not
representative when testing is
conducted at the higher temperatures
specified in the test procedure.
Therefore, a waiver is not appropriate,
which in turn provides no basis for
granting an alternative test procedure.
The PB Petition for Waiver has raised
a legitimate issue of whether the DOE
test procedure would benefit from
amendments to test and rate the
performance of boilers at lower water
input and output temperatures, as well
as the efficiency effects of various
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controls for those products. PB has
suggested that results generated at lower
water temperature conditions would be
more typical of the specified models’
performance, although it did not state
that its products would be unable to be
tested using DOE’s test procedure or to
meet the energy conservation standard
when testing is conducted at the higher
water temperatures specified in the
existing DOE test procedure for
residential boilers. However, given their
potential complexity, DOE believes that
such issues should be addressed in the
context of a rulemaking with the
opportunity for public notice and
comment. The results of such
rulemaking would apply on an industrywide basis, thereby resulting in no
advantage or disadvantage to any
particular manufacturer. DOE may
consider potential amendments to the
test procedure regarding testing the
energy efficiency of condensing boilers
at lower water temperatures as part of a
future rulemaking.
In the meantime, DOE points out that
PB and similarly situated manufacturers
may make supplemental statements
regarding the energy efficiency of their
boilers (e.g., on marketing materials,
Web sites), provided that they continue
to disclose the AFUE result generated
using the DOE test procedure. Such
supplemental results must not mislead
the consumer and must be clearly
distinguished from the AFUE results.
With that said, DOE notes that it has
examined ASHRAE Standard 103–2003
(Public Review Draft) and believes it to
be generally adequate for the
supplemental testing purposes
envisioned by PB, provided that the
significance of LWTSE results are
explained and clearly differentiated
from AFUE results, so as to prevent
consumer confusion in the marketplace.
Since LWTSE test conditions promote
condensing operation, DOE would
caution, in the interest of consumer
safety, that units tested accordingly, and
advertised with a LWTSE, be
appropriately designed or equipped to
contend with potential corrosion issues
which are typically associated with
condensates produced from lowtemperature flue gases. Accordingly,
nothing currently prevents PB (or any
other manufacturer) from reporting lowwater-temperature test results for the
boilers in question, along with the
required AFUE results in marketing or
other informative materials for
consumers. DOE suggests any
manufacturer that wishes to show the
LWTSE values in addition to the AFUE
values clearly distinguish the
differences between the two tests,
PO 00000
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Fmt 4703
Sfmt 4703
including the different operating
characteristics, for consumers. DOE
notes, however, that such supplemental
information could not be placed on the
product’s Energy Guide label, because
the FTC’s regulations limit such
information to results generated under
the DOE test procedure.
Consultations With Other Agencies
DOE consulted with the FTC staff
concerning the PB Petition for Waiver.
The FTC staff did not have any
objections to the decision to deny a
waiver to PB.
Conclusion
After careful consideration of all the
materials submitted by PB and
consultation with the FTC staff, for the
reasons above, it is ordered that:
(1) The ‘‘Petition for Waiver’’ filed by
PB Heat, LLC (PB) (Case No. WAV–
0140) is hereby denied for the reasons
discussed above; and
(2) PB shall be required to test or rate
the AFUE of its residential PO–50, PO–
60, PO–63, and PO–73 oil-fired boilers
on the basis of the current test
procedure contained in 10 CFR
430.23(n) and 10 CFR part 430, subpart
B, appendix N.
PB may conduct LWTSE testing and
report the results in product literature
(other than supplementation of the
certification label), provided that the
AFUE test results generated under the
DOE test procedure continue to be
disclosed and that the LWTSE results
provide reasonable, clear, and
distinguishable representations of those
results to the consumer.
Issued in Washington, DC, on April 30,
2010.
Cathy Zoi,
Assistant Secretary,
Energy Efficiency and Renewable Energy.
[FR Doc. 2010–10815 Filed 5–6–10; 8:45 am]
BILLING CODE 6450–01–P
DEPARTMENT OF ENERGY
Federal Energy Regulatory
Commission
[Docket No. ER10–1089–000]
EquiPower Resources Management,
LLC; Supplemental Notice That Initial
Market-Based Rate Filing Includes
Request for Blanket Section 204
Authorization
April 29, 2010.
This is a supplemental notice in the
above-referenced proceeding of
EquiPower Resources Management,
LLC’s application for market-based rate
authority, with an accompanying rate
E:\FR\FM\07MYN1.SGM
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Agencies
[Federal Register Volume 75, Number 88 (Friday, May 7, 2010)]
[Notices]
[Pages 25228-25234]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2010-10815]
-----------------------------------------------------------------------
DEPARTMENT OF ENERGY
Office of Energy Efficiency and Renewable Energy
[Docket Number: EERE-BT-2006-WAV-0140]
Energy Conservation Program for Consumer Products: Decision and
Order Denying a Waiver to PB Heat, LLC From the Department of Energy
Residential Furnace and Boiler Test Procedures
AGENCY: Office of Energy Efficiency and Renewable Energy, Department of
Energy (DOE).
ACTION: Decision and Order.
-----------------------------------------------------------------------
SUMMARY: This notice publishes DOE's Decision and Order in Case No.
WAV-0140, which denies a waiver to PB Heat, LLC (PB) from the existing
DOE residential furnace and boiler test procedure. This Decision and
Order pertains to PB's PO-50, PO-60, PO-63, and PO-73 models of oil-
fired boilers. DOE previously published the PB Petition for Waiver and
solicited comments, data, and information regarding the petition, which
requested permission to publish a Low Water Temperature Seasonal
Efficiency (LWTSE) value, conducted under an alternative industry test
procedure, in addition to the mandatory Annual Fuel Utilization
Efficiency (AFUE) value required under DOE's energy conservation
standards. PB's petition suggested that testing and reporting of the
AFUE value alone is not representative of its basic models' true energy
consumption characteristics. DOE denies PB's Petition for Waiver for
the reasons set forth below. Because a waiver is not appropriate, DOE
cannot prescribe an alternative test procedure. However, the Decision
and Order clarifies that it is permissible for a manufacturer to
conduct LWTSE testing and to present such results in product
literature. It is noted that the Energy Guide label used for
certification and consumer information purposes can only present
information generated under the DOE test procedure, as required under
applicable Federal Trade Commission (FTC) regulations. When making such
supplemental statements in the product literature, manufacturers must
continue to conduct, report, and fairly disclose the AFUE test results
generated under the DOE test procedures, and to use those AFUE results
when making representations as to the basic model's energy efficiency.
Supplemental statements regarding LWTSE must fairly disclose the
results of such testing and may not mislead the consumer about the
relevance of the required AFUE value. For example, DOE suggests any
manufacturer that wishes to show the LWTSE values in addition to the
AFUE value should make clear the differences between the two tests,
including the different operating characteristics and conditions, for
consumers.
DATES: This Decision and Order is effective May 7, 2010.
FOR FURTHER INFORMATION CONTACT: Mr. Mohammed Khan, U.S. Department of
Energy, Building Technologies Program, EE-2J, 1000 Independence Avenue,
SW., Washington, DC 20585-0121. Telephone: (202) 586-7892. E-mail:
Mohammed.Khan@ee.doe.gov.
Ms. Francine Pinto or Mr. Eric Stas, U.S. Department of Energy,
Office of the General Counsel, GC-71, 1000 Independence Avenue, SW.,
Washington, DC 20585-0121. Telephone: (202) 586-9507. E-mail:
Francine.Pinto@hq.doe.gov or Eric.Stas@hq.doe.gov.
For access to the docket to read this notice, the Petition for
Waiver, background documents, or comments received, please call Ms.
Brenda Edwards at (202) 586-2945 for information regarding visiting the
Resource Room of the Building Technologies Program. The Resource Room
is accessible at the U.S. Department of Energy, 950 L'Enfant Plaza,
SW., Suite 600, Washington, DC, between 9 a.m. and 4 p.m., Monday
through Friday, except Federal holidays.
SUPPLEMENTARY INFORMATION: In accordance with 10 CFR 430.27(l), DOE
gives notice of the issuance of its Decision and Order as set forth
below. In this Decision and Order, DOE denies PB's request for a waiver
from the existing DOE residential furnace and boiler test procedure for
its PO-50, PO-60, PO-63, and PO-73 models of oil-fired boilers. DOE
denies the waiver because: (1) The PB units can and do operate at the
higher water temperatures specified in the DOE test procedure; (2)
there is no indication that the existing test procedure generates
inaccurate results at the specified temperatures; and (3) the PB units
meet the AFUE level required under the energy conservation standard.
Accordingly, DOE has determined that the applicable test procedure is
representative of the energy consumption characteristics of the PB
basic models at the specified conditions (i.e., water temperatures) and
that the DOE test procedures for these residential products will allow
PB to test and rate its above-referenced line of oil-fired boilers.
DOE clarifies that it is permissible for a manufacturer to conduct
LWTSE testing and present the results in product literature (other than
supplementation of the certification label, which can only present
information generated under the DOE test procedure, as required under
applicable FTC regulations). When making such supplemental statements
in product literature, manufacturers must continue to conduct, report,
and fairly disclose the AFUE test results generated under the DOE test
procedures (10 CFR 430.62(a)(4)(viii)), and to use AFUE results when
making representations as to the basic model's energy efficiency (42
U.S.C. 6293(c)(1)). Supplemental statements regarding LWTSE must fairly
disclose the results of such testing and may not mislead the consumer
about the relevance of the required AFUE value. For example, DOE
suggests any manufacturer that wishes to show the LWTSE values in
addition to the AFUE value should make clear the differences between
the two tests, including the different operating characteristics and
conditions, for consumers.
Issued in Washington, DC, April 30, 2010.
Cathy Zoi,
Assistant Secretary, Energy Efficiency and Renewable Energy.
Decision and Order
In the Matter of: PB Heat, LLC (PB) (Case No. WAV-0140).
Authority
Title III of the Energy Policy and Conservation Act of 1975 (EPCA),
as amended, sets forth a variety of provisions concerning energy
efficiency, including Part A \1\ of Title III, which establishes the
``Energy Conservation Program for Consumer Products Other Than
Automobiles.'' (42 U.S.C. 6291-6309) Similarly, Part A-1 \2\ of Title
III of EPCA, 42 U.S.C. 6311-6317, provides for an energy efficiency
program titled,
[[Page 25229]]
``Energy Efficiency Program for Certain Commercial and Industrial
Equipment.'' (42 U.S.C. 6311-6317)
---------------------------------------------------------------------------
\1\ This part was originally titled Part B. It was redesignated
Part A in the United States Code for editorial reasons.
\2\ This part was originally titled Part C. It was redesignated
Part A-1 in the United States Code for editorial reasons.
---------------------------------------------------------------------------
In general, Part A of Title III also provides for test procedures,
labeling, and energy conservation standards for a variety of covered
consumer products, including residential furnaces and boilers, and it
authorizes DOE to require information and reports from manufacturers.
With respect to test procedures, the statute generally authorizes the
Secretary of Energy (the Secretary) to prescribe test procedures that
are reasonably designed to produce results which reflect energy
efficiency, energy use, and estimated annual operating costs, and that
are not unduly burdensome to conduct. (42 U.S.C. 6293(b)(3)) The
statute further provides that no manufacturer, distributor, retailer,
or private labeler may make any representation in writing (including on
a label) or in any broadcast advertisement with respect to the energy
use or efficiency (or water use) of a covered product to which a DOE
test procedure is applicable, unless such product has been tested in
accordance with such test procedure and such representation fairly
discloses the results of such testing. (42 U.S.C. 6293(c)(1))
In relevant part, EPCA requires that DOE prescribe standardized
test procedures to measure the energy consumption of residential
furnaces and boilers in terms of the AFUE metric. (42 U.S.C.
6291(22)(A)) DOE adopted test procedures for residential furnaces and
boilers which are codified at 10 CFR 430.23(n) and at 10 CFR 430,
subpart B, appendix N (``Uniform Test Method For Measuring the Energy
Consumption of Furnaces and Boilers''). The DOE test procedure
incorporates by reference provisions of the American National Standards
Institute (ANSI)/American Society of Heating, Refrigerating and Air-
Conditioning Engineers, Inc. (ASHRAE) Standard 103-1993, ``Method of
Testing for Annual Fuel Utilization Efficiency of Residential Central
Furnaces and Boilers.'' The test procedure prescribes a standardized
method for measuring the energy consumption of various types of
furnaces and boilers. Further, the test procedure measurements can be
used in determining model-specific energy consumption information to
assist consumers in making purchasing decisions.
DOE's regulations set forth under 10 CFR 430.27 contain provisions
that enable a person to seek a waiver from the test procedure
requirements for a covered consumer product under the following
circumstances. Any interested person may submit a petition for waiver
upon the grounds that the basic model contains a design characteristic
which either prevents testing of the basic model according to the
prescribed test procedures, or the prescribed test procedures may
evaluate the basic model in a manner so unrepresentative of its true
energy consumption characteristics as to provide materially inaccurate
comparative data. 10 CFR 430.27(a)(1).
Furthermore, the regulations authorize the Assistant Secretary for
Energy Efficiency and Renewable Energy (Assistant Secretary) to grant
an Interim Waiver from test procedure requirements applicable to a
particular basic model of consumer product, if it is determined that
the applicant will experience economic hardship if the Application for
Interim Waiver is denied, if it appears likely that the Petition for
Waiver will be granted, and/or the Assistant Secretary determines that
it would be desirable for public policy reasons to grant immediate
relief pending a determination on the Petition for Waiver. 10 CFR
430.27(g). An Interim Waiver will remain in effect for 180 days or
until DOE issues its determination on the Petition for Waiver,
whichever occurs first. Further, an Interim Waiver may be extended for
an additional 180 days. 10 CFR 430.27(h).
Assertions and Determinations
PB submitted a Petition for Waiver from the temperature
requirements listed in ASHRAE Standard 103-1993, with errata of October
24, 1996, which are incorporated into appendix N to subpart B of 10 CFR
Part 430. The Petition for Waiver is based on the grounds that `` `the
prescribed test procedures may evaluate the basic model in a manner so
unrepresentative of its true energy consumption characteristics' '' [as
to provide materially inaccurate comparative data]. 71 FR 46460, 46463
(August 14, 2006). In its petition, PB requested that in addition to
the mandatory reporting of AFUE, it be allowed to also provide an LWTSE
efficiency measure for its oil-fired boilers based upon testing under
the procedures in Appendix F of ASHRAE Standard 103-2003 (Public Review
Draft).\3\ Id. at 46463-64.
---------------------------------------------------------------------------
\3\ The Review Draft is currently part of ASHRAE Standard 103-
2007 as an informative appendix. ASHRAE Standard 103-2007 states,
``This appendix is not part of the standard. It is merely
informative and does not contain requirements necessary for
conformance to the standard. It has not been processed according to
the ANSI requirements for a standard and may contain material that
has not been subject to public review or a consensus process.
Unresolved objectors on informative material are not offered the
right to appeal to ASHRAE or ANSI.'' However, for ease of
discussion, this document will continue to refer to ASHRAE Standard
103-2003, as specified in PB's original petition.
---------------------------------------------------------------------------
1. PB Petition for Waiver
On March 27, 2006, PB filed a petition requesting that it be
permitted to publish an LWTSE value in conjunction with the AFUE value
that is the result of testing under 10 CFR part 430, subpart B,
appendix N (i.e., the test procedures for residential furnaces and
boilers). At specific issue in the PB Petition are its PO-50, PO-60,
PO-63 and PO-73 models of oil-fired boilers. PB stated that the AFUE
value from the prescribed test procedure may result in an evaluation of
the basic model that is unrepresentative of its true energy consumption
characteristics. PB did not request to rely on the LWTSE metric in lieu
of the AFUE metric, but instead requested permission to publish both
values for its residential boilers. DOE's current test procedure does
not provide for LWTSE testing, which represents a variant of AFUE under
different operating conditions (i.e., lower return water temperatures).
DOE understands that residential boilers are typically used either
with baseboard convector or radiant floor heating systems that
circulate water in a closed-loop fashion. Originating at the boiler,
heated water is pumped to the convectors or radiant floor coils. As the
water passes through the convectors or floor coils, heat is extracted,
and the water is cooled. The heated water exiting the boiler is termed
``supply water,'' and the cooled water entering the boiler is termed,
``return water.'' For any given system, the return water temperature is
directly related to the supply water temperature, which can be set at
the boiler. Also, the return water temperature is a function of a
house's heating load and the effectiveness of either the convector or
radiant floor coil system. Different heating systems and heating
control systems may provide different water temperatures. For example,
supply and return water temperatures are typically lower for a radiant
floor coil system than a convector system. Nevertheless, to uniformly
test and compare the AFUE of different residential boiler heating
systems, the procedure in 10 CFR part 430, subpart B, appendix N
specifies the use of standardized supply and return water temperatures
for measuring the AFUE. As part of the petition, PB asserted that the
specified temperatures do not suitably match the expected performance
characteristics of the
[[Page 25230]]
subject boiler units, and consequently, the prescribed test procedures
under 10 CFR 430.23(n)(2) and in 10 CFR part 430, subpart B, appendix
N, evaluate the subject boiler models in a manner that is
unrepresentative of their true energy consumption characteristics in
the field.
PB stated that if a boiler is used with radiant floor heating
systems, the return and supply water temperatures are far lower than
those seen with baseboard convector systems. Similarly, PB stated that
if a boiler is used with baseboard convector heating systems, in
combination with outdoor reset controls, the supply water temperatures
can be lower than that specified in the DOE test procedure for some
fraction of the heating season. In its petition, PB also asserted that
because the boilers in question are supplied with an outdoor reset
control from the manufacturer, the boilers installed with either
radiant floor heating systems or baseboard convector heating systems
are capable of achieving condensing conditions, and increased
efficiency and reduced energy use, during warmer periods of the heating
season.
In particular, PB asserted that its oil-fired boiler models PO-50,
PO-60, PO-63, and PO-73 achieve fully-condensing conditions at return
water temperatures that are below the 120 degrees Fahrenheit (EF)
return water temperature required under the test procedure at 10 CFR
430.23(n)(2) and 10 CFR 430, subpart B, appendix N. According to PB,
these oil-fired boilers are designed to operate in low-temperature
applications, and are supplied with an outdoor reset control that can
allow the boiler to operate with lower return water temperatures for
much of the heating season.
In contrast, the DOE test procedure prescribed for boilers, under
10 CFR 430.23(n) and 10 CFR part 430, subpart B, appendix N, requires a
return water temperature of 120 [deg]F. PB asserted that the DOE test
procedure will not reflect the efficiency that its boilers are capable
of achieving due to the variations in the return water temperature.
Instead, PB argued that the procedure described in ASHRAE Standard 103-
2003, which uses a nominal return water temperature of 90 [deg]F and a
nominal supply water temperature of 110 [deg]F, would better represent
the seasonal efficiency of its boilers. PB believes that a waiver
permitting publication of LWTSE would allow customers making purchasing
decisions to ``receive the greatest seasonal efficiency, save money on
fuel costs and apply for the Energy Tax Credit that is part of the
Federal Energy Bill of 2005.'' 71 FR 46460, 46464 (August 14, 2006).
2. Factors To Consider in Granting or Evaluating a Petition
DOE understands that PB is seeking a waiver of the test procedure
requirements for return water temperature under 10 CFR 430.23(n)(2),
because the petitioner asserts that the test procedure may evaluate its
boiler models PO-50, PO-60, PO-63, and PO-73 in a manner so
unrepresentative of their true energy consumption characteristics as to
provide materially inaccurate comparative data. Also, DOE understands
that PB seeks to use an alternative test procedure (i.e., draft ASHRAE
Standard 103-2003), which specifies lower supply and return water
temperatures than required in DOE's test procedure and a different
seasonal efficiency metric. In addition, PB requested permission to
publish an LWTSE in addition to AFUE for its residential boilers.
In light of the above, DOE considered the potential impacts of
testing condensing boilers under lower water temperatures, as suggested
by PB. In its notice publishing PB's Petition for Waiver, DOE expressed
concern that the reliability of the approach suggested by PB in fact
depends upon different seasonal and heating conditions that can vary
from house to house, such as heating load profile that is a function of
geographic location, temperature of the return water necessary for
condensation, and the performance of a particular house's baseboard
convectors or radiant floor heating system. DOE also tentatively
concluded that appendix F of the draft ASHRAE Standard 103-2003 (which
specifically states it is intended for radiant floor heating systems)
does not take into account how often a boiler will operate in the
condensing mode with a baseboard convector system, even with an outdoor
reset control. Thus, it may not accurately reflect ``annualized''
efficiency, which could cause confusion to consumers making a
purchasing decision. Further, DOE understands from the PB petition that
outdoor reset controls are ``supplied'' with its boilers. However, it
is unclear whether such controls are an integral part of the boiler
itself or a separate mechanism for installation in the field. If these
control mechanisms are field-installed, DOE cannot be certain that a
boiler would be equipped with the intended outdoor controls, which
ultimately impact the annual energy use of the unit. It is DOE's
understanding that the outdoor temperature reset does not replace the
safety mechanisms in place for residential boilers, which prevent them
from operating at temperatures well above the DOE test procedure
conditions. Finally, DOE questioned whether granting a waiver to PB
could result in LTWSE ratings for its oil-fired boiler models PO-50,
PO-60, PO-63, and PO-73 that do not enable uniform comparison with the
ratings of other oil-fired boilers. 71 FR 46460, 46461 (August 14,
2006).
Discussion of Comments
DOE announced in the Federal Register the PB Petition for Waiver,
the potential use of draft ASHRAE Standard 103-2003, appendix F as an
alternative test procedure for residential oil-fired furnaces and
boilers, a calculation methodology for LWTSE, and a request for public
comments. 71 FR 46460 (August 14, 2006).
In particular, DOE requested comments on the following questions:
Does the DOE test procedure provide results that are
unrepresentative of the PB PO-50, PO-60, PO-63, and PO-73 models of
oil-fired boilers' energy consumption so as to provide materially
inaccurate comparative data in all installations?
Were PB to be granted a waiver, would it lead to a
proliferation of petitions for waiver for other oil-fired boilers?
Is the DOE test procedure appropriate for boilers used
with baseboard convector heating systems?
Are there other metrics that can be used to assess the
performance of low-water-temperature boilers used with baseboard
heating systems?
Is it appropriate for PB to use the proposed alternate
test procedures for ratings and representations, and compliance with
energy efficiency standards, building codes, and regulatory
requirements?
Should the Department prescribe for manufacturers the
LWTSE for low-water-temperature boilers?
Id. at 46462.
In response, DOE received comments from seven interested parties.
The comments appear in Docket No. EERE-BT-2006-WAV-0140. (See the FOR
FURTHER INFORMATION CONTACT section in this notice for further
information about access to the docket.) The following discussion
identifies each interested party and summarizes its relevant comments.
(1) Bradford White Corporation
Bradford White Corporation (BWC) generally opposed the Petition for
Waiver and commented that lowering the supply water temperature (140
[deg]F) and the return water temperature (120 [deg]F) specified in
ASHRAE Standard 103-1993 to 110 [deg]F and 90 [deg]F, respectively,
[[Page 25231]]
as PB requests, could increase the rated AFUE for all other boilers,
especially condensing types. Further, BWC stated that the condensing
products on today's market, including those with outdoor temperature
reset controls, are currently rated according to the existing test
procedures. In response to the above questions, BWC opined that the
current test procedure (10 CFR 430.23(n)(2)) ``does not provide
materially inaccurate comparative data.'' (BWC, 9 at p.1) Instead, BWC
suggested that it is designed to select a single set of operating
conditions that a boiler may see in service and measure efficiency at
that point. This single operating test point allows consumers to
compare data across available models and manufacturers. BWC asserted
that the current test procedure is appropriate for boilers used with
baseboard convector systems, and that creating other ratings would
confuse the market and consumers by creating a matrix of boiler types,
system types, operating temperatures, and so forth. (BWC, 9 at p.2)
(2) National Oilheat Research Alliance
National Oilheat Research Alliance (NORA) generally favored the PB
Petition for Waiver and provided several assertions to substantiate its
position. First, the oil heating industry has objected to the AFUE
rating procedure because it fails to recognize the benefits that
controls and electronics may have on overall system efficiency. Second,
NORA stated that the current test procedure for AFUE does not serve the
interests of consumers because it does not allow the measurement of an
oilheating boiler when it is fully condensing. Third, NORA argued that
the operating system controls, including use of an outside reset
feature, can adjust boiler water temperatures to meet particular
heating loads, thereby improving efficiency over a range of weather
conditions. (NORA, 8 at p.1,2)
(3) ECR International, Inc.
ECR International, Inc. (ECRI) strongly urged DOE to deny the PB
Petition for Waiver. In general, ECRI did not object to the
supplemental use of LWTSE for marketing and informational purposes.
However, ECRI asserted that the AFUE test results under DOE's test
conditions must be clearly distinguished from the optional LWTSE
metrics to prevent consumer confusion. Notwithstanding the above, ECRI
objected to the PB Petition for Waiver for the following reasons.
According to ECRI, AFUE provides a common standard by which a consumer
can make a logical comparison between boiler models and manufacturers.
However, AFUE can only be used for relative comparisons between boilers
and not absolute expectations of fuel consumption, because the actual
efficiency of a boiler depends on many factors that vary from house to
house and the current test procedure requires a steady state condition
for return water temperature. As an example, ECRI states that the
performance of a unit configured with an outdoor reset feature and
indirect domestic hot water heating will be different from a system
without such features and that return water temperatures vary in any
one demand cycle. (ECR, 6 at p.1)
In response to the above questions raised by DOE, ECRI offered the
following comments. First, ECRI generally stated that AFUE and LWTSE
metrics are not comparable. ECRI opined that the LWTSE metric would
provide a higher efficiency value using the same test method due to
differences in operating temperatures. Second, if DOE grants PB a
waiver, ECRI will apply for and expect to receive a waiver for its
products (both gas and oil types), and the result would be an increase
of one to three percentage points of efficiency. Third, the current
test procedure is appropriate for boilers used in baseboard
applications, because AFUE enables comparisons between various boiler
types. Fourth, the current use of AFUE allows for comparisons of low-
water-temperature boilers. Fifth, it is not appropriate to use the
LWTSE rating for compliance with energy efficiency standards, because
reducing the water temperature would reduce the validity of the testing
protocol. Overall, ECRI asserted that DOE should not substitute AFUE
with LWTSE, and instead, ECRI recommended using LWTSE as a supplement
to an AFUE rating to provide consumers with additional information on
condition that the information is not confusing to consumers. (ECRI, 6
at p.2,3)
(4) Burnham Hydronics
In general, Burnham Hydronics (BH) agreed with PB that the current
test procedure underestimates boiler efficiency in low-temperature
applications, but it stated that all condensing boilers are
disadvantaged in this way, so there should be no waiver. Further, BH
opined that if a waiver were granted, there would not be a
proliferation of waivers from the two manufacturers of oil-fired
boilers, but there would be a proliferation of waivers from the more
than twenty manufacturers of gas-fired boilers. BH stated its belief
that the current test procedure overestimates the efficiency of boilers
that are used in baseboard heating systems, and underestimates the
efficiency of boilers used in condensing systems. BH asserted that
there are no other metrics that can be used to measure the performance
of low-water-temperature boilers used with baseboard heating systems,
and that it is not appropriate to use a test procedure for LWTSE to
meet established energy efficiency standards. As a minimum, BH reasoned
that the current test procedure puts all condensing boiler
manufacturers on a level playing field. Lastly, BH commented that DOE
could prescribe LWTSE for low-water-temperature boilers, but only
through the rulemaking process. (BH, 3 at p.1,2)
(5) Brookhaven National Laboratory
Brookhaven National Laboratory (BNL) commented that the current
AFUE test procedure for boilers specifies supply and return water
temperatures at 140 [deg]F and 120 [deg]F, respectively. This return
water temperature is specified both for condensing and non-condensing
boilers. At this return water temperature, BNL stated that a gas-fired
boiler can condense, but an oil-fired boiler will not. Furthermore, due
to the lower water vapor content and lower latent heat loss, an oil-
fired boiler will achieve higher efficiency than a gas-fired boiler
under non-condensing conditions with the same excess air and flue gas
temperature. (BNL, 10 at p. 1)
BNL stated its understanding that actual boiler temperatures can
vary considerably in the field, and that the temperature in a
particular system can be affected by controls, including outdoor reset
controls. According to BNL, studies have shown that outdoor reset
controls can enable condensing oil-fired boilers to operate in a
condensing mode for most of the heating season, even when used with
baseboard radiators. (BNL, 10 at p. 1)
In response to DOE's request for comments on other metrics that can
be considered for low-water-temperature boilers used with baseboard
heating systems, BNL addressed controls that provide variable water
temperature. BNL stated that the ASHRAE Special Products Committee 155
is developing a test method for commercial boilers that includes the
effects of controls and variable water temperatures, which would result
in an ``Application Seasonal Efficiency'' where controls, oversize
features, and multiple boiler options can be selected to evaluate
performance in a particular building. In addition, BNL commented that
the method for ``Determination of Boiler Performance for Low Water
[[Page 25232]]
Temperature Applications,'' defined an appendix to the public review
draft ASHRAE Standard 103, ``Method of Testing Annual Fuel Utilization
Efficiency of Residential Central Furnaces and Boilers,'' was developed
only for information and in particular for low temperature
applications, such as radiant floor heating. BNL stated that this
optional methodology uses supply and return water temperatures that are
low enough to allow for condensing both in oil- and gas-fired boilers,
but because this methodology uses a fixed-temperature water supply, it
does not apply to a system with a variable temperature water supply.
(BNL, 10 at p. 1, 2)
(6) Quincy Hydronic Technology, Inc.
Quincy Hydronic Technology, Inc. (QHT) strongly opposed granting a
waiver to PB, arguing that it would be unfair to manufacturers that
produce high-efficiency boilers which meet the required AFUE levels.
Moreover, QHT objected to the AFUE rating system generally and asserted
that it is not only flawed, but penalizes high-efficiency products. QHT
cited examples of its B-10 boilers, wall-mounting gas boilers, and
flexible cast iron boilers that essentially reduce fuel consumption and
are more efficient because of innovative designs, but such benefits
cannot be demonstrated through the AFUE test procedure. QHT indicated
that, based on homeowner feedback, AFUE ratings fail consumers when
making purchasing decisions. QHT opined that if PB were to receive a
waiver, then DOE should expect requests for waivers from many
manufacturers. QHT argued that DOE should revise the current test
procedure so that it better reflects the performance boilers can
achieve in actual field use and to make AFUE more meaningful. (QHT, 5
at p. 1, 2)
(7) LAARS Heating Systems Company
LAARS Heating Systems Company (LHSC) opposed granting a waiver to
PB for its line of PO models of oil-fired boilers. According to LHSC,
the change that PB requests for inlet and outlet temperatures from the
levels currently specified in ASHRAE Standard 103-1993 (i.e., from 120
[deg]F/140 [deg]F to 90 [deg]F/110 [deg]F) would increase the rated
AFUE for these products, as it would for most other gas-fired and oil-
fired boilers, and in particular condensing boilers. Further, if a new
test procedure methodology is provided by waiver for only the PB
products, then consumers would not be able to make reliable comparisons
of AFUE ratings with the product lines of other manufacturers.
Accordingly, LHSC argued that any change in the current test procedure
should be industry-wide. (LHSC, 11 at p. 1)
In response to DOE's questions, LHSC commented that the current
test procedure is not materially inaccurate, but it is designed for a
single set of operating conditions and measures efficiency at that
point, to enable consumers to compare data across available products.
Also, LHSC reasoned that the test procedure is appropriate for boilers
used with baseboard convector systems that are typically designed for
180 [deg]F supply/160 [deg]F return temperatures, which would result in
slightly different installed operating efficiencies than rated AFUE.
LHSC observed that existing standards, codes, and other regulatory
requirements rely on the current test procedures for AFUE, so providing
a unique set of testing requirements through waiver would give PB an
unfair competitive advantage in meeting such requirements. In addition,
AFUE is the only metric for measuring boiler performance, regardless of
boiler or type of heating system that uses gas-fired or oil-fired
boilers, and introducing other ratings would cause confusion in the
marketplace. LHSC opined that using the alternative test procedure for
ratings and representations, as proposed by PB, would artificially
raise the ratings for products made by PB over the boiler products of
other manufacturers that test for AFUE under the current test
procedures. Nevertheless, LHSC asserted that DOE should review and seek
comments on potential changes to ASHRAE Standard 103 and consider
adoption of appropriate amendments to the test procedure suitable for
implementation on an industry-wide basis. (LHSC, 11 at p. 2)
Response to Comments and DOE Determination
Regarding the responses received to the above questions raised by
DOE and other issues presented by commenters, DOE offers the following
discussion.
First, DOE asked whether the currently-prescribed test procedures
may evaluate the PO-series basic model of oil-fired boiler manufactured
by PB in a manner so unrepresentative of its true energy consumption
characteristics as to provide materially inaccurate data. Interested
parties commented that although the current test procedure measures
efficiency at a single operating point under steady-state conditions,
it nevertheless underestimates boiler efficiency in low-temperature
applications, and in some cases penalizes high-efficiency designs. Two
interested parties objected to the current test procedure because it
does not consider the benefits that electronic controls (such as an
outdoor temperature reset feature that can adjust boiler output
temperature to meet a particular heating need) may have on overall
system efficiency, nor does the current test procedure allow for
measuring boiler efficiency when it is fully condensing.
DOE generally divides products for standard-setting purposes into
product classes by type of energy used, capacity, or other performance-
related feature affecting energy efficiency. (42 U.S.C. 6295(q)(1)) In
the case of residential boilers, DOE has established product classes
based on fuel type, including gas-fired and oil-fired units. 10 CFR
430.32(e)(2).
DOE understands that the current test procedure, at 10 CFR
430.23(n)(2) and 10 CFR part 430, subpart B, appendix N, measures AFUE
at steady-state operating conditions under certain supply and return
water temperatures. The test procedure for all oil-fired boilers,
regardless of manufacturer and across the entire range of efficiencies,
was developed to provide a reasonable interpretation to the consumer of
the annual fuel utilization efficiency. In order to do this, DOE
requires testing at specific incoming and exiting water temperatures to
provide a fair comparison for boilers offered for sale and to minimize
testing burden on manufacturers. This enables consumers to make
comparisons among various gas-fired or oil-fired boilers all operating
under the same operating test condition.
While DOE acknowledges that there are certain design features that
could enhance efficiency which may not be captured by the current test
procedure and statutory metric, one option would be for DOE to consider
test procedure revisions in the future, which consider variations to
the water temperatures experienced by different systems. PB did not
provide any data supplementing their claims to show how the AFUE is
impacted by varying water temperatures. In addition, PB also did not
provide any data which would give DOE an indication of the proportion
of time that the boiler spends operating at various water temperatures
throughout the year. (Note: DOE realizes such data would be location
and installation dependent.) Given that the statutory metric is AFUE,
the current test procedure adequately measures that metric.
When asked if there would be a proliferation of petitions for
waiver if PB were granted a waiver, interested parties that commented
on this issue
[[Page 25233]]
predicted that there would be some petitions for waiver from
manufacturers of oil-fired boilers, and more so from manufacturers of
gas-fired boilers. In light of the above comments, DOE understands that
there would likely be many petitions for waiver from the prescribed
test procedures under 10 CFR 430.23(n)(2). However, such considerations
do not affect whether PB's Petition for Waiver should be granted on its
merits.
DOE believes that an alternative test procedure that is based on
the informative appendix F of draft ASHRAE Standard 103-2003 could
provide consumers with additional information about system efficiency
under various operating conditions in the field, such as those used in
radiant heating applications. However, as mentioned in comments by BNL,
the procedure provided in appendix F does not address fully the more
complicated issue of variable temperature controls.
DOE asked about the appropriateness of its test procedure as it
relates to boilers used with baseboard systems. Interested parties
generally commented that the current test procedure is appropriate for
boilers used with baseboard convector heating systems. It does not
provide materially inaccurate comparative data, but is designed around
a single set of operating conditions, thereby enabling consumers to
compare data and make valid comparisons between products. DOE asked
whether there are other metrics that can be used to assess the
performance of low-water-temperature boilers used with baseboard
heating systems. Interested parties generally commented that the
current test procedure is appropriate, because it allows relative
comparisons between low-temperature boilers, and that creating other
ratings could cause confusion in the marketplace. DOE agrees that the
current test procedure allows for an effective means for relative
comparisons because the test establishes a single-point operating
condition for all boilers regardless of how the boilers are used in
actual field installations. For the same reason however, DOE is
sensitive to the fact that the test procedure cannot capture the
variance in performance of boilers which might be capable of different
ratings when tested at other operating conditions (or tested with
certain controls). By requiring testing under a specific set of
operating conditions, DOE's test procedure allows for reasonable
representations to be made of the efficiency, irrespective of
efficiency at other conditions or manufacturer.
In response to DOE's request for comments on whether it would be
appropriate for PB to use an alternative test procedure for its
ratings, representations, and compliance with energy efficiency
standards, building codes, and other regulatory requirements,
interested parties generally opined that it would not be appropriate to
use a test procedure that measures LWTSE to meet established energy
efficiency standards or regulations that are based on AFUE. Further,
because such regulations rely on the current test procedures for AFUE,
commenters argued that providing a unique set of testing requirements
would give one manufacturer an unfair competitive advantage in meeting
such requirements. Further, DOE understands that the variance in
operating conditions, which impact the efficiency of the boiler, are
not manufacturer-specific or model-specific. If DOE were to consider
any changes, it would do so in a separate proceeding. DOE agrees that
using LWTSE would be inappropriate because AFUE is the established
metric, and, in addition, not deviating from the current AFUE metric
and test procedure would maintain a method for consistent and
equivalent comparisons of all boilers.
As to whether DOE should prescribe a test procedure and establish
levels for LWTSE, DOE did not receive specific comments on the
technical merits of PB's requested alternative test procedure as a
proposed amendment to 10 CFR part 430, subpart B, appendix N--Uniform
Test Method for Measuring the Energy Consumption of Furnaces and
Boilers. 71 FR 46460, 46461 (August 14, 2006). Instead, interested
parties commented that if DOE prescribes a test procedure and standard
for LWTSE, it should be through the rulemaking process, include the
opportunity for public comments, and be applied on an industry-wide
basis. Two interested parties generally addressed the test method
defined in appendix F of the public review draft ASHRAE Standard 103,
and one interested party said that the method of test was developed for
low-water-temperature applications, such as radiant floor heating
systems, but for information purposes only. (BNL, 10 at p.2) The other
interested party asserted that DOE should seek comments on changes to
ASHRAE Standard 103, and make appropriate changes to the DOE test
procedures. (LHSC, 11 at p.2) DOE believes the most appropriate
approach presently is to not propose an amendment prescribing the
alternative test procedure and establishing standard levels based on
LWTSE. However, DOE is sensitive to the potential issue of its current
test procedure possibly underrating the efficiency of some boilers used
in condensing modes/systems. Accordingly, DOE is receptive to any
comments and suggestions for workable solutions during any future DOE
activity aimed at revising the test procedure. DOE believes that a full
understanding of the issue and identification of the appropriate
approaches to remedying issues can only be accomplished through a
rulemaking process.
DOE appreciates all of the comments it received, which have helped
DOE reach a more fully informed decision regarding the PB Petition. DOE
recognizes the concern raised by some commenters that the current DOE
test procedure may not equally estimate the performance of condensing
boilers and non-condensing boilers, and some commenters believe that
the LWTSE test procedure would better characterize the efficiency of
condensing boilers. DOE believes, however, that the LWTSE test
procedure, which specifies lower fixed test temperatures only, may not
be comprehensive enough to either capture or sufficiently represent the
performance of condensing systems equipped with certain controls (i.e.,
temperature reset controls) that vary system operating temperatures. A
revised test procedure that both accommodates lower water temperatures
and captures the potential benefits of control strategies may be
required to wholly and accurately characterize the spectrum of
available boiler products and operating conditions. Even though DOE
understands that there could be a variety of operating conditions
experienced in the field, PB has not shown that the current AFUE test
cannot be applied to these models. In addition, the test procedures are
to provide reasonable efficiency ratings across the range of covered
oil-fired boilers, and DOE was not provided details as to why DOE's
test procedure does not accurately capture the energy efficiency of the
range of products currently sold.
In light of the above, DOE has determined the following in response
to the PB Petition for Waiver. Pursuant to 42 U.S.C. 6291(22)(A), the
``efficiency descriptor'' for furnaces (of which boilers are one type)
is annual fuel utilization efficiency. Because the efficiency metric
for those products are set by statute, DOE does not have authority to
substitute other metrics to rate the efficiency of residential furnaces
and boilers. The DOE test
[[Page 25234]]
procedure prescribed at 10 CFR 430.23(n) and contained in 10 CFR part
430, subpart B, appendix N require AFUE testing of boilers with an
inlet water temperature of 140 [deg]F and an outlet water temperature
of 120 [deg]F. DOE could, however, consider modifications to the test
conditions in the AFUE test as part of a separate rulemaking proceeding
if DOE had data showing different test conditions were more
appropriate.
Even though PB's Petition for Waiver requested permission to report
information supplemental to AFUE rather than to only report different
data expected to be more representative than AFUE, PB asserted that the
DOE test procedure generates results that are so unrepresentative of
the true energy consumption characteristics of its basic models as to
provide materially inaccurate comparative data.
After subsequent inquiry concerning PB's assertion and in light of
the above, DOE has determined that the PB boilers in question can and
do operate at the higher water temperatures specified in the DOE test
procedure. PB did not state that its units are incapable of operating
at higher water temperatures; DOE understands the units are neither
shipped with an add-on component nor equipped with an integral part
that precludes operation at higher water temperatures. As stated
earlier in this Decision and Order, system water temperatures are a
function of many factors unrelated to the unit itself and can range
significantly. In the absence of outdoor temperature reset, the
incoming water temperatures can vary greatly depending on heating load,
installation, and other factors. Thus, because the PB boilers can
operate at the temperatures specified in the existing DOE test
procedures, it is appropriate to test at those temperatures when rating
the unit's AFUE. Testing in this manner provides a steady-state test
condition that generates results that can be compared across a range of
products and manufacturers. PB has provided no evidence to suggest that
the existing test procedure generates results that are either
inaccurate or are not representative when testing is conducted at the
higher temperatures specified in the test procedure. Therefore, a
waiver is not appropriate, which in turn provides no basis for granting
an alternative test procedure.
The PB Petition for Waiver has raised a legitimate issue of whether
the DOE test procedure would benefit from amendments to test and rate
the performance of boilers at lower water input and output
temperatures, as well as the efficiency effects of various controls for
those products. PB has suggested that results generated at lower water
temperature conditions would be more typical of the specified models'
performance, although it did not state that its products would be
unable to be tested using DOE's test procedure or to meet the energy
conservation standard when testing is conducted at the higher water
temperatures specified in the existing DOE test procedure for
residential boilers. However, given their potential complexity, DOE
believes that such issues should be addressed in the context of a
rulemaking with the opportunity for public notice and comment. The
results of such rulemaking would apply on an industry-wide basis,
thereby resulting in no advantage or disadvantage to any particular
manufacturer. DOE may consider potential amendments to the test
procedure regarding testing the energy efficiency of condensing boilers
at lower water temperatures as part of a future rulemaking.
In the meantime, DOE points out that PB and similarly situated
manufacturers may make supplemental statements regarding the energy
efficiency of their boilers (e.g., on marketing materials, Web sites),
provided that they continue to disclose the AFUE result generated using
the DOE test procedure. Such supplemental results must not mislead the
consumer and must be clearly distinguished from the AFUE results. With
that said, DOE notes that it has examined ASHRAE Standard 103-2003
(Public Review Draft) and believes it to be generally adequate for the
supplemental testing purposes envisioned by PB, provided that the
significance of LWTSE results are explained and clearly differentiated
from AFUE results, so as to prevent consumer confusion in the
marketplace. Since LWTSE test conditions promote condensing operation,
DOE would caution, in the interest of consumer safety, that units
tested accordingly, and advertised with a LWTSE, be appropriately
designed or equipped to contend with potential corrosion issues which
are typically associated with condensates produced from low-temperature
flue gases. Accordingly, nothing currently prevents PB (or any other
manufacturer) from reporting low-water-temperature test results for the
boilers in question, along with the required AFUE results in marketing
or other informative materials for consumers. DOE suggests any
manufacturer that wishes to show the LWTSE values in addition to the
AFUE values clearly distinguish the differences between the two tests,
including the different operating characteristics, for consumers. DOE
notes, however, that such supplemental information could not be placed
on the product's Energy Guide label, because the FTC's regulations
limit such information to results generated under the DOE test
procedure.
Consultations With Other Agencies
DOE consulted with the FTC staff concerning the PB Petition for
Waiver. The FTC staff did not have any objections to the decision to
deny a waiver to PB.
Conclusion
After careful consideration of all the materials submitted by PB
and consultation with the FTC staff, for the reasons above, it is
ordered that:
(1) The ``Petition for Waiver'' filed by PB Heat, LLC (PB) (Case
No. WAV-0140) is hereby denied for the reasons discussed above; and
(2) PB shall be required to test or rate the AFUE of its
residential PO-50, PO-60, PO-63, and PO-73 oil-fired boilers on the
basis of the current test procedure contained in 10 CFR 430.23(n) and
10 CFR part 430, subpart B, appendix N.
PB may conduct LWTSE testing and report the results in product
literature (other than supplementation of the certification label),
provided that the AFUE test results generated under the DOE test
procedure continue to be disclosed and that the LWTSE results provide
reasonable, clear, and distinguishable representations of those results
to the consumer.
Issued in Washington, DC, on April 30, 2010.
Cathy Zoi,
Assistant Secretary,
Energy Efficiency and Renewable Energy.
[FR Doc. 2010-10815 Filed 5-6-10; 8:45 am]
BILLING CODE 6450-01-P