Energy Conservation Program: Energy Conservation Standards for Residential Refrigerators, Refrigerator-Freezers, and Freezers, 57516-57612 [2011-22329]
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
DEPARTMENT OF ENERGY
10 CFR Part 430
[Docket Number EE–2008–BT–STD–0012]
RIN 1904–AB79
Energy Conservation Program: Energy
Conservation Standards for
Residential Refrigerators, RefrigeratorFreezers, and Freezers
Office of Energy Efficiency and
Renewable Energy, Department of
Energy.
ACTION: Final rule.
AGENCY:
The Energy Policy and
Conservation Act (EPCA) prescribes
energy conservation standards for
various consumer products and
commercial and industrial equipment,
including refrigerators, refrigeratorfreezers, and freezers. EPCA also
requires the U.S. Department of Energy
(DOE) to determine if more stringent,
amended standards for these products
are technologically feasible and
economically justified, and would save
a significant amount of energy. In this
final rule, DOE is adopting more
stringent energy conservation standards
for refrigerators, refrigerator-freezers,
and freezers. It has determined that the
amended energy conservation standards
for these products would result in the
significant conservation of energy and
are technologically feasible and
economically justified.
DATES: The effective date of this rule is
November 14, 2011. Compliance with
the amended standards established for
refrigerators, refrigerator-freezers, and
freezers in today’s final rule is
September 15, 2014.
ADDRESSES: For access to the docket to
read background documents, the
technical support document, transcripts
of the public meetings in this
proceeding, or comments received, visit
the U.S. Department of Energy, Resource
Room of the Building Technologies
Program, 950 L’Enfant Plaza, SW., 6th
Floor, Washington, DC 20024, (202)
586–2945, between 9 a.m. and 4 p.m.,
Monday through Friday, except Federal
holidays. Please call Ms. Brenda
Edwards at the above telephone number
for additional information regarding
visiting the Resource Room. You may
also obtain copies of certain previous
rulemaking documents in this
proceeding (i.e., framework document,
notice of public meeting and
announcement of a preliminary
technical support document (TSD),
notice of proposed rulemaking), draft
analyses, public meeting materials, and
related test procedure documents from
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SUMMARY:
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the Office of Energy Efficiency and
Renewable Energy’s Web site at: https://
www1.eere.energy.gov/buildings/
appliance_standards/residential/
refrigerators_freezers.html.
FOR FURTHER INFORMATION CONTACT:
Lucas Adin, U.S. Department of Energy,
Office of Energy Efficiency and
Renewable Energy, Building
Technologies Program, EE–2J, 1000
Independence Avenue, SW.,
Washington, DC 20585–0121, 202–287–
1317, e-mail: Lucas.Adin@ee.doe.gov or
Michael Kido, U.S. Department of
Energy, Office of the General Counsel,
GC–71, 1000 Independence Avenue,
SW., Washington, DC 20585–0121, (202)
586–9507, e-mail:
Micahel.Kido@hq.doe.gov.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Summary of the Final Rule and Its Benefits
II. Introduction
A. Authority
B. Background
1. Current Standards
2. History of Standards Rulemaking for
Refrigerators, Refrigerator-Freezers, and
Freezers
III. General Discussion
A. Test Procedures
1. Test Procedure Rulemaking Schedule
2. Adjustment of the Energy Standards for
the New Test Procedure
a. Products with Variable Anti-Sweat
Heater Control
b. Products With Multiple Defrost Cycle
Types
c. Amendments To Capture Precooling
Energy Use
d. Test Procedures for Special
Compartments
3. Standby and Off Mode Energy Use
B. Technological Feasibility
1. General
2. Maximum Technologically Feasible
Levels
C. Energy Savings
1. Determination of Savings
2. Significance of Savings
D. Economic Justification
1. Specific Criteria
a. Economic Impact on Manufacturers and
Consumers
b. Life-Cycle Costs
c. Energy Savings
d. Lessening of Utility or Performance of
Products
e. Impact of Any Lessening of Competition
f. Need for National Energy Conservation
g. Other Factors
2. Rebuttable Presumption
IV. Methodology and Discussion
A. Market and Technology Assessment
1. Exclusion of Wine Coolers From This
Rulemaking
2. Product Classes
a. General Discussion Regarding Added
Product Classes
b. Possible Combination of Product Class 2
With 1, and Class 12 With 11
c. All-Refrigerators and Basic Refrigerators
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Sfmt 4700
d. Built-In Refrigeration Products
e. Modification of the Definition for
Compact Products
f. Icemaking
B. Screening Analysis
1. Discussion of Comments
a. Compressors
b. Alternative Refrigerants
c. Alternative Foam-Blowing Agents
d. Vacuum-Insulated Panels
2. Technologies Considered
C. Engineering Analysis
1. Discussion of Comments
2. Adjustment of the Baseline Energy Use
Equations
D. Markups To Determine Product Cost
E. Energy Use Analysis
F. Life-Cycle Cost and Payback Period
Analyses
1. Product Cost
2. Installation Cost
3. Annual Energy Consumption
4. Energy Prices
5. Energy Price Projections
6. Maintenance and Repair Costs
7. Product Lifetime
8. Discount Rates
9. Compliance Date of Amended Standards
10. Base Case Efficiency Distribution
11. Inputs to Payback Period Analysis
12. Rebuttable-Presumption Payback
Period
G. National Impact Analysis—National
Energy Savings and Net Present Value
Analysis
1. Shipments
2. Forecasted Efficiency in the Base Case
and Standards Cases
3. Installed Cost per Unit
4. Site-to-Source Energy Conversion
5. Discount Rates
6. Benefits From Effects of Standards on
Energy Prices
H. Consumer Subgroup Analysis
I. Manufacturer Impact Analysis
1. Comments From Interested Parties
2. GRIM Key Inputs
a. Product and Capital Conversion Costs
b. Markup Scenarios
3. Manufacturer Interviews
J. Employment Impact Analysis
K. Utility Impact Analysis
L. Environmental Assessment
M. Monetizing Carbon Dioxide and Other
Emissions Impacts
1. Social Cost of Carbon
a. Monetizing Carbon Dioxide Emissions
b. Social Cost of Carbon Values Used in
Past Regulatory Analyses
c. Current Approach and Key Assumptions
2. Valuation of Other Emissions
Reductions
V. Discussion of Other Comments
A. Demand Response
B. Energy Standard Round-Off
C. Trial Standard Levels and Proposed
Standards
1. Efficiency Levels
2. Maximum Energy Use Equations
VI. Analytical Results
A. Trial Standard Levels
B. Economic Justification and Energy
Savings
1. Economic Impacts on Individual
Consumers
a. Life-Cycle Cost and Payback Period
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b. Consumer Subgroup Analysis
c. Rebuttable Presumption Payback
2. Economic Impacts on Manufacturers
a. Cash-Flow Analysis Results
b. Impacts on Employment
c. Impacts on Manufacturing Capacity
d. Impacts on Sub-Group(s) of
Manufacturers
e. Cumulative Regulatory Burden
3. National Impact Analysis
a. Significance of Energy Savings
b. Net Present Value of Consumer Costs
and Benefits
c. Indirect Impacts on Employment
4. Impact on Utility or Performance of
Products
5. Impact of Any Lessening of Competition
6. Need of the Nation To Conserve Energy
7. Other Factors
C. Conclusion
1. Standard-Size Refrigerator-Freezers
2. Standard-Size Freezers
3. Compact Refrigeration Products
4. Built-In Refrigeration Products
5. Summary of Benefits and Costs
(Annualized) of Amended Standards
VII. Procedural Issues and Regulatory Review
A. Review Under Executive Order 12866
and 13563
B. Review Under the Regulatory Flexibility
Act
C. Review Under the Paperwork Reduction
Act
D. Review Under the National
Environmental Policy Act of 1969
E. Review Under Executive Order 13132
F. Review Under Executive Order 12988
G. Review Under the Unfunded Mandates
Reform Act of 1995
H. Review Under the Treasury and General
Government Appropriations Act, 1999
I. Review Under Executive Order 12630
J. Review Under the Treasury and General
Government Appropriations Act, 2001
K. Review Under Executive Order 13211
L. Review Under the Information Quality
Bulletin for Peer Review
M. Congressional Notification
VIII. Approval of the Office of the Secretary
I. Summary of the Final Rule and Its
Benefits
The Energy Policy and Conservation
Act (42 U.S.C. 6291, et seq.; EPCA or the
Act), as amended, provides that any
new or amended energy conservation
standard DOE prescribes for certain
consumer products, such as residential
refrigerators, refrigerator-freezers, and
freezers (collectively referred to in this
document as ‘‘refrigeration products’’),
shall be designed to ‘‘achieve the
maximum improvement in energy
efficiency * * * which the Secretary
determines is technologically feasible
and economically justified.’’ (42 U.S.C.
6295(o)(2)(A)) The new or amended
standard must result in the significant
conservation of energy. (42 U.S.C.
6295(o)(3)(B)) In accordance with these
and other statutory provisions discussed
in this notice, DOE is adopting amended
energy conservation standards for
refrigeration products. The standards in
today’s final rule, which are the
maximum allowable energy use
expressed as a function of the calculated
adjusted volume of a given product, are
shown in Table I.1. These standards
apply to all products listed in Table I.1
and manufactured in, or imported into,
the United States starting in 2014.
TABLE I.1—REFRIGERATION PRODUCT ENERGY CONSERVATION STANDARDS (EFFECTIVE STARTING 2014)
Equations for maximum energy use
(kWh/yr)
Product class
emcdonald on DSK5VPTVN1PROD with RULES3
Based on AV
(ft 3)
1. Refrigerator-freezers and refrigerators other than all-refrigerators with manual defrost ...................
1A. All-refrigerators—manual defrost .....................................................................................................
2. Refrigerator-freezers—partial automatic defrost ................................................................................
3. Refrigerator-freezers—automatic defrost with top-mounted freezer without an automatic icemaker
3–BI. Built-in refrigerator-freezer—automatic defrost with top-mounted freezer without an automatic
icemaker.
3I. Refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic icemaker
without through-the-door ice service.
3I–BI. Built-in refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic
icemaker without through-the-door ice service.
3A. All-refrigerators—automatic defrost ..................................................................................................
3A–BI. Built-in All-refrigerators—automatic defrost ................................................................................
4. Refrigerator-freezers—automatic defrost with side-mounted freezer without an automatic icemaker.
4–BI. Built-In Refrigerator-freezers—automatic defrost with side-mounted freezer without an automatic icemaker.
4I. Refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic icemaker
without through-the-door ice service.
4I–BI. Built-In Refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic
icemaker without through-the-door ice service.
5. Refrigerator-freezers—automatic defrost with bottom-mounted freezer without an automatic icemaker.
5–BI. Built-In Refrigerator-freezers—automatic defrost with bottom-mounted freezer without an automatic icemaker.
5I. Refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic icemaker without through-the-door ice service.
5I–BI. Built-In Refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic icemaker without through-the-door ice service.
5A. Refrigerator-freezer—automatic defrost with bottom-mounted freezer with through-the-door ice
service.
5A–BI. Built-in refrigerator-freezer—automatic defrost with bottom-mounted freezer with through-thedoor ice service.
6. Refrigerator-freezers—automatic defrost with top-mounted freezer with through-the-door ice service.
7. Refrigerator-freezers—automatic defrost with side-mounted freezer with through-the-door ice
service.
7–BI. Built-In Refrigerator-freezers—automatic defrost with side-mounted freezer with through-thedoor ice service.
8. Upright freezers with manual defrost .................................................................................................
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PO 00000
Frm 00003
Fmt 4701
Sfmt 4700
7.99AV
6.79AV
7.99AV
8.07AV
9.15AV
+
+
+
+
+
225.0
193.6
225.0
233.7
264.9
Based on av
(L)
0.282av
0.240av
0.282av
0.285av
0.323av
+
+
+
+
+
225.0
193.6
225.0
233.7
264.9
8.07AV + 317.7
0.285av + 317.7
9.15AV + 348.9
0.323av + 348.9
7.07AV + 201.6
8.02AV + 228.5
8.51AV + 297.8
0.250av + 201.6
0.283av + 228.5
0.301av + 297.8
10.22AV + 357.4
0.361av + 357.4
8.51AV + 381.8
0.301av + 381.8
10.22AV + 441.4
0.361av + 441.4
8.85AV + 317.0
0.312av + 317.0
9.40AV + 336.9
0.332av + 336.9
8.85AV + 401.0
0.312av + 401.0
9.40AV + 420.9
0.332av + 420.9
9.25AV + 475.4
0.327av + 475.4
9.83AV + 499.9
0.347av + 499.9
8.40AV + 385.4
0.297av + 385.4
8.54AV + 432.8
0.302av + 432.8
10.25AV + 502.6
0.362av + 502.6
5.57AV + 193.7
0.197av + 193.7
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
TABLE I.1—REFRIGERATION PRODUCT ENERGY CONSERVATION STANDARDS (EFFECTIVE STARTING 2014)—Continued
Equations for maximum energy use
(kWh/yr)
Product class
Based on AV
(ft 3)
9. Upright freezers with automatic defrost without an automatic icemaker ...........................................
9I. Upright freezers with automatic defrost with an automatic icemaker ...............................................
9–BI. Built-In Upright freezers with automatic defrost without an automatic icemaker .........................
9I–BI. Built-in upright freezers with automatic defrost with an automatic icemaker ..............................
10. Chest freezers and all other freezers except compact freezers ......................................................
10A. Chest freezers with automatic defrost ...........................................................................................
11. Compact refrigerator-freezers and refrigerators other than all-refrigerators with manual defrost ...
11A. Compact all-refrigerators—manual defrost ....................................................................................
12. Compact refrigerator-freezers—partial automatic defrost ................................................................
13. Compact refrigerator-freezers—automatic defrost with top-mounted freezer ..................................
13I. Compact refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic
icemaker.
13A. Compact all-refrigerators—automatic defrost ................................................................................
14. Compact refrigerator-freezers—automatic defrost with side-mounted freezer ................................
14I. Compact refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic
icemaker.
15. Compact refrigerator-freezers—automatic defrost with bottom-mounted freezer ............................
15I. Compact refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic icemaker.
16. Compact upright freezers with manual defrost ................................................................................
17. Compact upright freezers with automatic defrost .............................................................................
18. Compact chest freezers ....................................................................................................................
Based on av
(L)
8.62AV + 228.3
8.62AV + 312.3
9.86AV + 260.9
9.86AV + 344.9
7.29AV + 107.8
10.24AV + 148.1
9.03AV + 252.3
7.84AV + 219.1
5.91AV + 335.8
11.80AV + 339.2
11.80AV + 423.2
0.305av
0.305av
0.348av
0.348av
0.257av
0.362av
0.319av
0.277av
0.209av
0.417av
0.417av
+
+
+
+
+
+
+
+
+
+
+
228.3
312.3
260.9
344.9
107.8
148.1
252.3
219.1
335.8
339.2
423.2
9.17AV + 259.3
6.82AV + 456.9
6.82AV + 540.9
0.324av + 259.3
0.241av + 456.9
0.241av + 540.9
11.80AV + 339.2
11.80AV + 423.2
0.417av + 339.2
0.417av + 423.2
8.65AV + 225.7
10.17AV + 351.9
9.25AV + 136.8
0.306av + 225.7
0.359av + 351.9
0.327av + 136.8
emcdonald on DSK5VPTVN1PROD with RULES3
AV = adjusted volume in cubic feet; av = adjusted volume in liters.
DOE’s analyses indicate that the
amended standards would save a
significant amount of energy–an
estimated 4.84 quads of cumulative
energy over 30 years (2014 through
2043). This amount is equivalent to
three times the total energy used
annually for refrigeration products in
U.S. homes.
The cumulative national net present
value (NPV) of total consumer costs and
savings of the amended standards for
products shipped in 2014–2043, in
2009$, ranges from $6.4 to $10.4 billion
(at a 7-percent discount rate) to $28.1 to
$36.1 billion (at a 3-percent discount
rate).1 The NPV is the estimated total
value of future operating-cost savings
during the analysis period, minus the
estimated increased product costs,
discounted to 2010. The industry net
present value (INPV) is the sum of the
discounted cash flows to the industry
from the base year through the end of
the analysis period (2010 to 2043).
Using a real discount rate of 7.2 percent,
DOE estimates that INPV for
manufacturers of all refrigeration
products in the base case is $3.731
billion in 2009$. By adopting the
amended standards, DOE expects that
manufacturers may lose 15 to 24 percent
of their INPV, or approximately $0.573
to $0.887 billion. Using a 7-percent
1 DOE uses discount rates of 7 and 3 percent
based on guidance from the Office of Management
and Budget. See section IV.G for further
information.
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discount rate, the NPV of consumer
costs and savings from today’s amended
standards would amount to 4 to 16
times the total estimated industry
losses. Using a 3-percent discount rate,
the NPV would amount to 26 to 60
times the total estimated industry
losses.
The projected economic impacts of
the amended standards on individual
consumers are generally positive. For
example, the estimated average lifecycle cost (LCC) savings are $42 for topmount refrigerator-freezers, $22 for
bottom-mount refrigerator-freezers, $57
for side-by-side refrigerator-freezers,
$195 for upright freezers, $69 for chest
freezers, $14 for compact refrigerators,
$12 for compact freezers, and from $2 to
$71 for built-in refrigeration products,
depending on the product class.2
In addition, the amended standards
are projected to have significant
environmental benefits. The energy
saved is in the form of electricity and
DOE expects the energy savings from
the amended standards to eliminate the
need for approximately 4.8 gigawatts
(GW) of generating capacity by 2043.
2 The LCC is the total consumer expense over the
life of a product, consisting of purchase and
installation costs plus operating costs (expenses for
energy use, maintenance and repair). To compute
the operating costs, DOE discounts future operating
costs to the time of purchase and sums them over
the lifetime of the product. The sources and
methods used to derive purchase, installation and
operating costs are described in section IV.F of this
notice.
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The savings would result in cumulative
greenhouse gas emission reductions of
344 million metric tons (Mt) 3 of carbon
dioxide (CO2) in 2014–2043. During this
period, the amended standards would
result in emissions reductions 4 of
277,000 short tons (tons) of nitrogen
oxides (NOX) and 1.45 tons of mercury
(Hg).
The value of the CO2 reductions is
calculated using a range of values per
metric ton of CO2 (otherwise known as
the Social Cost of Carbon, or SCC)
developed by a recent interagency
process. The derivation of the SCC
values is discussed in section IV.M.
DOE estimates the present monetary
value of the CO2 emissions reduction is
between $2.8 and $27.5 billion,
expressed in 2009$ and discounted to
2010. DOE also estimates that the
present monetary value of the NOX
emissions reduction, expressed in 2009$
and discounted to 2010, is between $35
and $360 million at a 7-percent discount
3 A metric ton is equivalent to 1.1 short tons.
Results for NOX and Hg are given in short tons.
4 DOE calculates emissions reductions relative to
the most recent version of the Annual Energy
Outlook (AEO) Reference case forecast. This
forecast accounts for regulatory emissions
reductions through 2008, including the Clean Air
Interstate Rule (CAIR, 70 FR 25162 (May 12, 2005)),
but not the Clean Air Mercury Rule (CAMR, 70 FR
28606 (May 18, 2005)). Subsequent regulations,
including the proposed CAIR replacement rule, the
Clean Air Transport Rule (75 FR 45210 (Aug. 2,
2010)), do not appear in the forecast. DOE notes that
a new CAIR rule has recently been finalized. See
https://www.epa.gov/crossstaterule/.
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rate, and between $87 and $890 million
at a 3-percent discount rate.5
Table I.2 summarizes the national
economic costs and benefits expected to
57519
result from today’s standards for
refrigeration products.
TABLE I.2—SUMMARY OF NATIONAL ECONOMIC BENEFITS AND COSTS OF REFRIGERATION PRODUCT ENERGY
CONSERVATION STANDARDS
Present value
billion 2009$
Category
Discount rate
(percent)
Benefits
Operating Cost Savings ...........................................................................................................................................
CO2 Reduction Monetized Value (at $4.9/t)* ...........................................................................................................
CO2 Reduction Monetized Value (at $22.1/t)* .........................................................................................................
CO2 Reduction Monetized Value (at $36.3/t)* .........................................................................................................
CO2 Reduction Monetized Value (at $67.1/t)* .........................................................................................................
NOX Reduction Monetized Value (at $447/ton)* .....................................................................................................
NOX Reduction Monetized Value (at $4,591/ton)* ..................................................................................................
Total Benefits† .........................................................................................................................................................
21.7 ...............
55.4 ...............
2.8 .................
9.0 .................
13.5 ...............
27.5 ...............
0.035 .............
0.087 .............
0.36 ...............
0.89 ...............
30.9 ...............
64.9 ...............
7
3
5
3
2.5
3
7
3
7
3
7
3
11.3 to 15.3 ...
19.3 to 27.3 ...
7
3
15.6 to 19.5 ..
37.5 to 45.5 ..
7
3
Costs
Incremental Installed Costs ......................................................................................................................................
Net Benefits
Including CO2 and NOX† .........................................................................................................................................
* The CO2 values represent global monetized values of the SCC in 2010 under several scenarios. The values of $4.9, $22.1, and $36.3 per
metric ton (t) are the averages of SCC distributions calculated using 5%, 3%, and 2.5% discount rates, respectively. The value of $67.1/t represents the 95th percentile of the SCC distribution calculated using a 3% discount rate.
** The range of results for incremental product costs reflects the range of product price forecasts discussed in section IV.G.3.
† Total Benefits for both the 3% and 7% cases are derived using the SCC value calculated at a 3% discount rate, and the average of the low
and high NOX values used in DOE’s analysis.
emcdonald on DSK5VPTVN1PROD with RULES3
The benefits and costs of today’s
standards, for products sold in 2014–
2043, can also be expressed in terms of
annualized values. The annualized
monetary values are the sum of (1) the
annualized national economic value,
expressed in 2009$, of the benefits from
operating products that meet the
amended standards (consisting
primarily of operating cost savings from
using less energy, minus increases in
equipment purchase and installation
costs, which is another way of
representing consumer NPV), and (2)
the annualized monetary value of the
benefits of emission reductions,
including CO2 emission reductions.6
Although adding the value of
consumer savings to the values of
emission reductions provides a valuable
perspective, two issues should be
considered. First, the national operating
savings are domestic U.S. consumer
monetary savings that occur as a result
of market transactions while the value
of CO2 reductions is based on a global
value. Second, the assessments of
operating cost savings and SCC are
performed with different methods that
use different time frames for analysis.
The national operating cost savings is
measured for the lifetime of refrigeration
products shipped in 2014–2043. The
SCC values, on the other hand, reflect
the present value of future climaterelated impacts resulting from the
emission of one ton of carbon dioxide in
each year. These impacts continue well
beyond 2100.
Estimates of annualized benefits and
costs of today’s standards are shown in
Table I.3. The results under the primary
estimate, expressed in 2009$, are as
follows. Using a 7-percent discount rate
and the SCC series having a value of
$22.1/ton in 2010, the cost of the
standards in today’s rule is $1,167 to
$1,569 million per year in increased
equipment costs, while the annualized
benefits are $2,275 million per year in
reduced equipment operating costs,
$515 million in CO2 reductions, and $21
million in reduced NOX emissions. In
this case, the net benefit amounts to
$1,241 to $1,643 million per year. Using
a 3-percent discount rate and the SCC
series having a value of $22.1/ton in
2010, the cost of the standards in
5 The range of values at each discount rate reflects
use of low and high estimates of the benefits of
avoiding one ton of NOX emissions. With respect
to mercury, DOE is aware of multiple agency efforts
to determine the appropriate range of values used
in evaluating the potential economic benefits of
reduced Hg emissions. DOE has decided to await
further guidance regarding consistent valuation and
reporting of Hg emissions before it once again
monetizes Hg in its rulemakings.
6 DOE used a two-step calculation process to
convert the time-series of costs and benefits into
annualized values. First, DOE calculated a present
value in 2010, the year used for discounting the
NPV of total consumer costs and savings, for the
time-series of costs and benefits using discount
rates of three and seven percent for all costs and
benefits except for the value of CO2 reductions. For
the latter, DOE used a range of discount rates, as
shown in Table I.3. From the present value, DOE
then calculated the fixed annual payment over a 30year period (2014 through 2043) that yields the
same present value. This payment includes benefits
to consumers which accrue after 2043 from the
refrigerators purchased from 2014 to 2043. Costs
incurred by manufacturers, some of which may be
incurred prior to 2014 in preparation for the rule,
are not directly included, but are indirectly
included as part of incremental equipment costs.
The extent of these costs and benefits depends on
the projected price trends of refrigerators since
consumer demand of refrigerators is a function of
refrigerator prices. The fixed annual payment is the
annualized value. Although DOE calculated
annualized values, this does not imply that the
time-series of cost and benefits from which the
annualized values were determined is a steady
stream of payments.
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today’s rule is $1,081 to $1,526 million
per year in increased equipment costs,
while the benefits are $3,160 million per
year in reduced operating costs, $515
million in CO2 reductions, and $28
million in reduced NOX emissions. In
this case, the net benefit amounts to
$2,176 to $2,622 million per year.
TABLE I.3—ANNUALIZED BENEFITS AND COSTS OF AMENDED STANDARDS FOR REFRIGERATION PRODUCTS SHIPPED IN
2014–2043 *
Monetized (million 2009$/year)
Discount rate
Benefits:
Operating Cost Savings .......................................................
CO2 Reduction at $4.9/t ** ...................................................
CO2 Reduction at $22.1/t ** .................................................
CO2 Reduction at $36.3/t ** .................................................
CO2 Reduction at $67.1/t ** .................................................
NOX Reduction at $2,519/ton ** ..........................................
Total (Operating Cost Savings, CO2 Reduction and NOX
Reduction) †.
Costs:
Incremental Product Costs ..................................................
Net Benefits:
Total † ..................................................................................
Primary
estimate *
Low net benefits
estimate *
High net
benefits
estimate *
7% .............................
3% .............................
5% .............................
3% .............................
2.5% ..........................
3% .............................
7% .............................
3% .............................
7% plus CO2 range ...
7% .............................
3% .............................
3% plus CO2 range ...
2275 .................
3160 .................
162 ...................
515 ...................
772 ...................
1567 .................
21 .....................
28 .....................
2457 to 3863 ....
2810 .................
3703 .................
3350 to 4755 ....
1996 .................
2720 .................
162 ...................
515 ...................
772 ...................
1567 .................
21 .....................
28 .....................
2178 to 3584 ....
2531 .................
3263 .................
2910 to 4315 ....
2560.
3596.
162.
515.
772.
1567.
21.
28.
2742 to 4148.
3095.
4139.
3786 to 5192.
7% .............................
3% .............................
1167 to 1569 ....
1081 to 1526 ....
1480 .................
1430 .................
1232.
1147.
7%
7%
3%
3%
888 to 2696 ......
1241 to 1643 ....
2176 to 2622 ....
1823 to 3674 ....
698 to 2103 ......
1051 .................
1832 .................
1479 to 2885 ....
1511 to 2916.
1863.
2993.
2640 to 4045.
plus CO2 range ...
.............................
.............................
plus CO2 range ...
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*This table presents the annualized costs and benefits associated with refrigerators shipped between 2014 and 2043. These results include
benefits to consumers which accrue after 2043 from the refrigerators purchased from 2014 to 2043. Costs incurred by manufacturers, some of
which may be incurred prior to 2014 in preparation for the rule, are not directly included, but are indirectly included as part of incremental equipment costs. The extent of these costs and benefits depends on the projected price trends of refrigerators since consumer demand of refrigerators
is a function of refrigerator prices. The extent of the costs and benefits will depend on the projected price trends of refrigerators, as the consumer
demand for refrigerators is a function of refrigerator prices. The Primary, Low Benefits, and High Benefits Estimates utilize forecasts of energy
prices and housing starts from the AEO2010 Reference case, Low Estimate, and High Estimate, respectively. In addition, incremental product
costs reflect a medium decline rate for projected product price trends in the Primary Estimate, a low decline rate for projected product price
trends using a Low Benefits Estimate, and a high decline rate for projected product price trends using a High Benefits Estimate. The different
techniques used to derive projected price trends for each estimate are explained in section IV.G.3. In the Primary estimate, the range of results
for incremental product costs reflects the range of projected price trends.
** The CO2 values represent global monetized values (in 2009$) of the SCC in 2010 under several scenarios. The values of $4.9, $22.1, and
$36.3 per metric ton are the averages of SCC distributions calculated using 5%, 3%, and 2.5% discount rates, respectively. The value of $67.1/t
represents the 95th percentile of the SCC distribution calculated using a 3% discount rate. The value for NOX (in 2009$) is the average of the
low and high values used in DOE’s analysis.
† Total Benefits for both the 3% and 7% cases are derived using the SCC value calculated at a 3% discount rate, which is $22.1/t in 2010 (in
2009$). In the rows labeled as ‘‘7% plus CO2 range’’ and ‘‘3% plus CO2 range,’’ the operating cost and NOX benefits are calculated using the labeled discount rate, and those values are added to the full range of CO2 values.
DOE has concluded that the standards
in today’s rule represent the maximum
improvement in energy efficiency that is
both technologically feasible and
economically justified, and would result
in the significant conservation of
energy. DOE further notes that products
achieving these standard levels are
already commercially available for at
least some, if not most, product classes
covered by today’s ruling. Based on the
analyses described above, DOE found
the benefits of today’s standards to the
Nation (energy savings, positive NPV of
consumer benefits, consumer LCC
savings, and emission reductions)
outweigh the burdens (loss of INPV for
manufacturers and LCC increases for
some consumers).
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II. Introduction
The following section briefly
discusses the statutory authority
underlying today’s final rule as well as
some of the relevant historical
background related to the establishment
of standards for refrigeration products.
A. Authority
Title III of EPCA sets forth a variety
of provisions designed to improve
energy efficiency. Part A of title III (42
U.S.C. 6291–6309) provides for the
Energy Conservation Program for
Consumer Products Other than
Automobiles.7 EPCA covers consumer
products and certain commercial
7 This part was titled Part B in EPCA, but was
subsequently codified as Part A in the U.S. Code for
editorial reasons.
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equipment (referred to collectively
hereafter as ‘‘covered products’’),
including the types of refrigeration
products that are the subject of this
rulemaking. (42 U.S.C. 6292(a)(1)) EPCA
prescribed energy conservation
standards for these products (42 U.S.C.
6295(b)(1)–(2)), and directed DOE to
conduct three cycles of rulemakings to
determine whether to amend these
standards. (42 U.S.C. 6295(b)(3)(A)(i),
(b)(3)(B)–(C), and (b)(4)) As explained in
further detail in section 0, this
rulemaking satisfies the third round of
amendments under 42 U.S.C. 6295(b).
(DOE notes that under 42 U.S.C.
6295(m), the agency must periodically
review its already established energy
conservation standards for a covered
product. Under this requirement, the
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next review that DOE would need to
conduct would occur six years from the
issuance of a final rule establishing or
amending a standard for a covered
product.)
Under the Act, DOE’s energy
conservation program for covered
products consists essentially of four
parts: (1) Testing, (2) labeling, (3) the
establishment of Federal energy
conservation standards, and (4)
certification and enforcement
procedures. The Federal Trade
Commission (FTC) is generally
responsible for labeling issues for
consumer products, and DOE
implements the remainder of the
program. Section 323 of the Act
(codified at 42 U.S.C. 6293) authorizes
DOE, subject to certain criteria and
conditions, to develop test procedures
to measure the energy efficiency, energy
use, or estimated annual operating cost
of each covered product. Manufacturers
of covered products must use the
prescribed DOE test procedure as the
basis for certifying to DOE that their
products comply with the applicable
energy conservation standards adopted
under EPCA and when making
representations to the public regarding
the energy use or efficiency of those
products. (42 U.S.C. 6293(c) and
6295(s)) Similarly, DOE must use these
test procedures to determine whether
the products comply with standards
adopted under EPCA. Id. The test
procedures for refrigeration products
currently appear at title 10, Code of
Federal Regulations (CFR), part 430,
subpart B, appendices A1 and B1,
respectively. (These procedures have
recently been amended and recodified
as part of new Appendices A and B,
which will, pending further comment
from interested parties, be required to be
used when certifying compliance with
the standards detailed in today’s final
rule. See 75 FR 78810 (December 16,
2010)).
EPCA prescribes specific criteria for
DOE to consider when amending
standards for covered products. As
indicated above, any amended standard
for a covered product must be designed
to achieve the maximum improvement
in energy efficiency that is
technologically feasible and
economically justified. (42 U.S.C.
6295(o)(2)(A)) EPCA precludes DOE
from adopting any standard that would
not result in the significant conservation
of energy. (42 U.S.C. 6295(o)(3))
Moreover, DOE may not prescribe a
standard for certain products, including
refrigeration products, (1) if no test
procedure has been established for that
product, or (2) if DOE determines by
rule that the amended standard is not
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technologically feasible or economically
justified. (42 U.S.C. 6295(o)(3)(A)–(B))
The Act also provides that, in deciding
whether an amended standard is
economically justified, DOE must
determine whether the benefits of the
standard exceed its burdens. (42 U.S.C.
6295(o)(2)(B)(i)) DOE must do so after
receiving comments on the proposed
standard, and by considering, to the
greatest extent practicable, the following
seven factors:
1. The economic impact of the
standard on manufacturers and
consumers of the products subject to the
standard;
2. The savings in operating costs
throughout the estimated average life of
the covered products in the type (or
class) compared to any increase in the
price, initial charges, or maintenance
expenses for the covered products that
are likely to result from the imposition
of the standard;
3. The total projected amount of
energy savings likely to result directly
from the imposition of the standard;
4. Any lessening of the utility or the
performance of the covered products
likely to result from the imposition of
the standard;
5. The impact of any lessening of
competition, as determined in writing
by the Attorney General, that is likely to
result from the imposition of the
standard;
6. The need for national energy
conservation; and
7. Other factors the Secretary of
Energy (Secretary) considers relevant.
(42 U.S.C. 6295(o)(2)(B)(i)(I)–(VII))
EPCA also contains what is known as
an ‘‘anti-backsliding’’ provision, which
prevents DOE from prescribing any
amended standard that either increases
the maximum allowable energy use or
decreases the minimum required energy
efficiency of a covered product. (42
U.S.C. 6295(o)(1)) Also, DOE may not
prescribe a new standard if interested
persons have established by a
preponderance of the evidence that the
standard is likely to result in the
unavailability in the United States of
any covered product type (or class) with
performance characteristics, features,
sizes, capacities, and volumes that are
substantially the same as those generally
available in the United States. (42 U.S.C.
6295(o)(4))
Further, EPCA establishes a rebuttable
presumption that a standard is
economically justified if the Secretary
finds that the additional cost to the
consumer of purchasing a product
complying with an energy conservation
standard level will be less than three
times the value of the energy savings
during the first year that the consumer
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57521
will receive as a result of the standard,
as calculated under the applicable test
procedure. See 42 U.S.C.
6295(o)(2)(B)(iii).8
Additionally, 42 U.S.C. 6295(q)(1)
specifies the requirements for setting
classes of a covered product. In such
cases, DOE may specify a different
standard level than that which applies
generally to such type or class of
products ‘‘for any group of covered
products which have the same function
or intended use’’ if one of two
conditions is met: (A) The specific
group of products for which a class
category would apply consume a
different kind of energy from that
consumed by other covered products
within such type (or class); or (B) that
specific group of products has a
capacity or other performance-related
feature which other products within
such type (or class) do not have and
such feature justifies a higher or lower
standard’’ than applies or will apply to
the other products within that type or
class. Id. In determining whether a
performance-related feature justifies a
different standard for a group of
products, DOE must ‘‘consider such
factors as the utility to the consumer of
such a feature’’ and other factors DOE
deems appropriate. Id. Any rule
prescribing such a standard must
include an explanation of the basis on
which such higher or lower level was
established. (42 U.S.C. 6295(q)(2))
Federal energy conservation
requirements generally supersede State
laws or regulations concerning energy
conservation testing, labeling, and
standards. (42 U.S.C. 6297(a)–(c)) DOE
can, however, grant waivers of Federal
preemption for particular State laws or
regulations in accordance with the
procedures and other provisions of
section 327(d) of the Act. (42 U.S.C.
6297(d))
Section 310(3) of the Energy
Independence and Security Act of 2007
(EISA 2007; Pub. L. 110–140 (codified at
42 U.S.C. 6295(gg))) amended EPCA to
require that energy conservation
standards address standby mode and off
mode energy use. Specifically, when
DOE adopts a standard for a covered
product after July 1, 2010, it must, if
justified by the criteria for adoption of
standards in section 325(o) of EPCA (42
U.S.C. 6295(o)), incorporate standby
mode and off mode energy use into the
standard, if feasible, or adopt a separate
8 In this context, the presumption provides a legal
finding that the criteria under 42 U.S.C. 6295(o)(2)
have been met if the specified level of savings
within the first year occur. To ensure that it has
fully examined the potential costs and benefits of
a given level, DOE routinely conducts a full
analysis of the potential standards it considers.
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standard for such energy use for that
product. (42 U.S.C. 6295(gg)(3)(A)–(B))
DOE’s current (and recently amended)
test procedures and current standards
for refrigeration products address
standby and off mode energy use, as do
the amended standards adopted in this
final rule. Standby and off mode energy
use is measured by the test procedures
and integrated into the energy use
metric, thus separate metrics for these
quantities are not needed.
DOE has also reviewed this regulation
pursuant to Executive Order 13563 (76
FR 3281, Jan. 21, 2011). EO 13563 is
supplemental to, and explicitly
reaffirms the principles, structures, and
definitions governing regulatory review
established in, Executive Order 12866.
To the extent permitted by law, agencies
are required by Executive Order 13563
to: (1) Propose or adopt a regulation
only upon a reasoned determination
that its benefits justify its costs
(recognizing that some benefits and
costs are difficult to quantify); (2) tailor
regulations to impose the least burden
on society, consistent with obtaining
regulatory objectives, taking into
account, among other things, and to the
extent practicable, the costs of
cumulative regulations; (3) select, in
choosing among alternative regulatory
approaches, those approaches that
maximize net benefits (including
potential economic, environmental,
public health and safety, and other
advantages; distributive impacts; and
equity); (4) to the extent feasible, specify
performance objectives, rather than
specifying the behavior or manner of
compliance that regulated entities must
adopt; and (5) identify and assess
available alternatives to direct
regulation, including providing
economic incentives to encourage the
desired behavior, such as user fees or
marketable permits, or providing
information upon which choices can be
made by the public.
DOE emphasizes as well that
Executive Order 13563 requires agencies
‘‘to use the best available techniques to
quantify anticipated present and future
benefits and costs as accurately as
possible.’’ In its guidance, the Office of
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Information and Regulatory Affairs has
emphasized that such techniques may
include ‘‘identifying changing future
compliance costs that might result from
technological innovation or anticipated
behavioral changes.’’ For the reasons
stated in the preamble, DOE believes
that today’s final rule is consistent with
these principles, including that, to the
extent permitted by law, agencies adopt
a regulation only upon a reasoned
determination that its benefits justify its
costs and select, in choosing among
alternative regulatory approaches, those
approaches that maximize net benefits.
Given the range of inputs and
parameters analyzed in this rulemaking,
there may be multiple standards that
would maximize annualized net
benefits.9 For some product classes,
depending on different assumptions, the
standard that maximized annualized net
benefits could fall within a range of
TSLs. Five different TSLs were
considered for each product class
grouping with high and low values for
the maximum annualized net benefits
estimated for each TSL. For standardsize refrigerator-freezers, the TSL with
maximum annualized net benefits with
the highest value was TSL 3, although
certain values for maximum annualized
net benefits fell within the ranges
estimated for TSL 1 to TSL 3. For
standard-size freezers, the maximum
annualized net benefits fell within the
calculated ranges for TSL 3 to TSL 4.
However, DOE noted that even using the
low end of this range, efficiency levels
are significantly higher than the most
efficient products already available on
the market (see Section VI.C.2).
Therefore, DOE selected TSL 2, which
DOE also notes corresponds to the
recommended level in the Joint
Comments. For compact refrigeration
products, the maximum annualized net
benefits fell within the calculated ranges
for TSL 1 to TSL 3, and DOE selected
TSL 2. With respect to compact
refrigeration products, DOE estimates an
approximately 10 percent increase in
total installation costs as a result of the
standard. Because DOE was unable to
9 The maximum annualized net benefits included
monetized emissions savings.
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estimate the income subgroup LCC
effects due to lack of data, the agency
believes choosing a TSL on the lower
end of the range of estimated cost
impacts (i.e., TSL 2) would provide a
more conservative approach to
minimize any potentially negative
consumer welfare impacts on lower
income consumers. For built-in
refrigeration products, the TSL with
maximum annualized net benefits was
TSL 2, and DOE selected TSL 2.
Therefore, consistent with EO 13563,
the energy efficiency standards adopted
herein by DOE achieves maximum net
benefits.
B. Background
The following discussion provides
some background information
describing the events leading up to
today’s final rule.
1. Current Standards
In a final rule published on April 28,
1997 (1997 Final Rule), DOE prescribed
energy conservation standards for
refrigeration products manufactured on
or after July 1, 2001. 62 FR 23102. This
1997 rule set the energy conservation
standards that are currently in place and
completed the second round of
rulemaking to amend the standards for
refrigeration products required under 42
U.S.C. 6295(b)(3)(B)–(C). The current
standards consist of separate equations
for each product class. Each equation
provides a means to calculate the
maximum levels of energy use
permitted under the regulations. These
levels vary based on the storage volume
of the refrigeration product and on the
particular characteristics and features
included in a given product (i.e., based
on product class). 10 CFR 430.32(a). The
current standards are set forth in Table
II.1. DOE notes that the standard levels
denoted in the additional product
classes listed as 5A and 10A were
established by the Office of Hearings
and Appeals (OHA) through that
Office’s exception relief process, and are
applicable to basic models of those
types if their manufacturer has applied
for and been granted exception relief for
them by OHA.
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57523
TABLE II.1—FEDERAL ENERGY EFFICIENCY STANDARDS FOR REFRIGERATORS, REFRIGERATOR-FREEZERS, AND FREEZERS
Energy standard equations for
maximum energy use
(kWh/yr)
Product class
Made Effective by the 1997
Final Rule
1. Refrigerators and refrigerator-freezers with manual defrost ..................................................................................
2. Refrigerator-freezers—partial automatic defrost .....................................................................................................
3. Refrigerator-freezers—automatic defrost with top-mounted freezer without through-the-door ice service and
all-refrigerator—automatic defrost.
4. Refrigerator-freezers—automatic defrost with side-mounted freezer without through-the-door ice service ..........
5. Refrigerator-freezers—automatic defrost with bottom-mounted freezer without through-the-door ice service .....
6. Refrigerator-freezers—automatic defrost with top-mounted freezer with through-the-door ice service ................
7. Refrigerator-freezers—automatic defrost with side-mounted freezer with through-the-door ice service ...............
8. Upright freezers with manual defrost ......................................................................................................................
9. Upright freezers with automatic defrost ..................................................................................................................
10. Chest freezers and all other freezers except compact freezers ..........................................................................
11. Compact refrigerators and refrigerator-freezers with manual defrost ..................................................................
12. Compact refrigerator-freezer—partial automatic defrost ......................................................................................
13. Compact refrigerator-freezers—automatic defrost with top-mounted freezer and compact all-refrigerator—
automatic defrost.
14. Compact refrigerator-freezers—automatic defrost with side-mounted freezer ....................................................
15. Compact refrigerator-freezers—automatic defrost with bottom-mounted freezer ................................................
16. Compact upright freezers with manual defrost .....................................................................................................
17. Compact upright freezers with automatic defrost .................................................................................................
18. Compact chest freezers ........................................................................................................................................
Product Class
8.82AV+248.4
0.31av+248.4
8.82AV+248.4
0.31av+248.4
9.80AV+276.0
0.35av+276.0
4.91AV+507.5
0.17av+507.5
4.60AV+459.0
0.16av+459.0
10.20AV+356.0
0.36av+356.0
10.10AV+406.0
0.36av+406.0
7.55AV+258.3
0.27av+258.3
12.43AV+326.1
0.44av+326.1
9.88AV+143.7
0.35av+143.7
10.70AV+299.0
0.38av+299.0
7.00AV+398.0
0.25av+398.0
12.70AV+355.0
0.45av+355.0
7.60AV+501.0
0.27av+501.0
13.10AV+367.0
0.46av+367.0
9.78AV+250.8
0.35av+250.8
11.40AV+391.0
0.40av+391.0
10.45AV+152.0
0.37av+152.0
Made Effective Through OHA
Exception Relief
5A. Refrigerator-freezer—automatic defrost with bottom-mounted freezer with through-the-door ice service ..........
10A. Chest freezers with automatic defrost ................................................................................................................
5.0AV+539.0
0.18av+539.0
14.76AV+211.5
0.52av+211.5
AV: Adjusted Volume in ft3; av: Adjusted Volume in liters (L).
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2. History of Standards Rulemaking for
Refrigerators, Refrigerator-Freezers, and
Freezers
The amendments made to EPCA by
the National Appliance Energy
Conservation Act of 1987 (NAECA; Pub.
L. 100–12) included mandatory energy
conservation standards for refrigeration
products and requirements that DOE
conduct two cycles of rulemakings to
determine whether to amend these
standards. (42 U.S.C. 6295(b)(1), (2),
(3)(A)(i), and (3)(B)–(C)) DOE completed
the first of these rulemaking cycles in
1989 and 1990 by adopting amended
performance standards for all
refrigeration products manufactured on
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or after January 1, 1993. 54 FR 47916
(November 17, 1989); 55 FR 42845
(October 24, 1990). As indicated above,
DOE completed a second rulemaking
cycle to amend the standards for
refrigeration products by issuing a final
rule in 1997, which adopted the current
standards for these products. 62 FR
23102 (April 28, 1997).
In 2005, DOE granted a petition,
submitted by a coalition of state
governments, utility companies,
consumer and low-income advocacy
groups, and environmental and energy
efficiency organizations, requesting a
rulemaking to amend the standards for
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residential refrigerator-freezers.10 DOE
then conducted limited analyses to
examine the technological and
economic feasibility of amended
standards at the ENERGY STAR levels
that were in effect for 2005 for the two
most popular product classes of
refrigerator-freezers. These analyses not
only identified potential energy savings,
benefits and burdens from such
standards, but also assessed other issues
related to them. Most recently, DOE has
undertaken this rulemaking to satisfy
10 The petition, submitted June 1, 2004, can be
viewed at https://www.standardsasap.org/
documents/rfdoe.pdf (last accessed August 18,
2010) and is in the docket as item No. 117.
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the statutory requirement that DOE
publish a final rule to determine
whether to amend the standards for
refrigeration products manufactured in
2014. (42 U.S.C. 6295(b)(4)) The limited
2005 analyses served as background for
the more extensive analysis conducted
for this rulemaking.
DOE initiated this rulemaking by
making available on its Web site a
framework document for refrigeration
products, a PDF copy of which is
available at https://
www1.eere.energy.gov/buildings/
appliance_standards/residential/pdfs/
refrigerator_freezer_framework.pdf).
DOE also published a notice
announcing the availability of the
framework document and a public
meeting to discuss the document. It also
requested public comment on the
document. 73 FR 54089 (September 18,
2008). The framework document
described the procedural and analytical
approaches that DOE anticipated using
to evaluate energy conservation
standards for refrigeration products and
identified various issues to resolve
during the rulemaking.
On September 29, 2008, DOE held the
framework document public meeting
and discussed the issues detailed in the
framework document. DOE also
described the analyses that it planned to
conduct during the rulemaking.
Through the public meeting, DOE
sought feedback from interested parties
on these subjects and provided
information regarding the rulemaking
process that DOE would follow.
Interested parties discussed the
following major issues at the public
meeting: Test procedure revisions;
product classes; technology options;
approaches to the engineering, life-cycle
cost, and payback period analyses;
efficiency levels analyzed in the
engineering analysis; and the approach
for estimating typical energy
consumption. At the meeting, and
during the related comment period,
DOE received many comments that
helped it identify and resolve issues
involved in this rulemaking.
DOE then gathered additional
information and performed preliminary
analyses for the purpose of developing
potential amended energy conservation
standards for refrigeration products.
This process culminated in DOE’s
public announcement of the preliminary
analysis public meeting. 74 FR 58915
(November 16, 2009) (the November
2009 notice) At that meeting, which was
held on December 10, 2009, DOE
discussed the following matters: The
product classes DOE analyzed; the
analytical framework, models, and tools
that DOE was using to evaluate
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standards; the results of the preliminary
analyses performed by DOE; and
potential standard levels that DOE could
consider. DOE also invited written and
verbal comments on these subjects and
announced the availability on its Web
site of a preliminary technical support
document (preliminary TSD) it had
prepared to inform interested parties
and enable them to provide comments.
Id. (The preliminary TSD is available at
https://www1.eere.energy.gov/buildings/
appliance_standards/residential/pdfs/
ref_frz_prenopr_prelim_tsd.pdf) DOE
also sought views concerning other
relevant issues that participants
believed would affect energy
conservation standards for refrigeration
products, or that merited addressing in
the Notice of Proposed Rulemaking
(NOPR). Id. at 58917–18.
The preliminary TSD provided an
overview of the activities DOE
undertook in developing potential
standards for refrigeration products, and
discussed the comments DOE received
in response to the framework document.
It also described the analytical
framework that DOE used, including a
description of the methodology, the
analytical tools, and the relationships
among the various analyses that are part
of the rulemaking. The preliminary TSD
presented and described in detail each
analysis DOE had performed up to that
point, including descriptions of inputs,
sources, methodologies, and results.
These analyses included a market and
technology assessment, a screening
analysis, an engineering analysis, an
energy use analysis, a markups analysis,
a life-cycle cost analysis, a payback
period (PBP) analysis, a shipments
analysis, a national impact analysis, and
a preliminary manufacturer impact
analysis. See the NOPR for an overview
of these assessments and analyses. 75
FR 59470, 59477 (September 27, 2010).
At the preliminary analysis meeting,
DOE presented the methodologies and
results of the analyses set forth in the
preliminary TSD. Major topics
discussed at the meeting included test
procedure revisions, product classes
(including wine coolers, allrefrigerators,11 and built-in refrigeration
products), the use of alternative foam
blowing agents and refrigerants,
engineering analysis tools, the use of
vacuum insulated panels (VIPs), markups, field energy consumption, life11 An ‘‘all-refrigerator’’ is defined as ‘‘an electric
refrigerator which does not include a compartment
for the freezing and long time storage of food at
temperatures below 32 °F (0.0 °C). It may include
a compartment of 0.50 cubic feet capacity (14.2
liters) or less for the freezing and storage of ice.’’
(10 CFR part 430, subpart B, appendix A1, section
1.4).
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cycle cost inputs, efficiency distribution
forecasts, and trial standard level
selection criteria. DOE also discussed
plans for conducting the NOPR
analyses. Comment received in response
to the November 2009 notice, helped
shape DOE’s resolution of the issues
raised in the preliminary analysis
meeting.
In response to the preliminary
analysis, DOE also received a comment
submitted jointly by groups representing
manufacturers (Association of Home
Appliance Manufacturers, Whirlpool,
General Electric Company (GE),
Electrolux, LG Electronics, BSH,
Alliance Laundry, Viking Range, Sub
Zero-Wolf, Friedrich A/C, U–Line,
Samsung, Sharp Electronics, Miele, Heat
Controller, AGA Marvel, Brown Stove,
Haier, Fagor America, Airwell Group,
Arcelik, Fisher & Paykel, Scotsman Ice,
Indesit, Kuppersbusch, Kelon,
DeLonghi); energy and environmental
advocates (American Council for an
Energy Efficient Economy, Appliance
Standards Awareness Project, Natural
Resources Defense Council, Alliance to
Save Energy, Alliance for Water
Efficiency, Northwest Power and
Conservation Council, Northeast Energy
Efficiency Partnerships); and consumer
groups (Consumer Federation of
America, National Consumer Law
Center). This collective set of comments,
which DOE refers to in this notice as the
‘‘Joint Comments,’’ 12 recommended
specific energy conservation standards
for refrigeration products that, in the
commenters’ view, would satisfy the
requirements under EPCA. According to
this submission, negotiations between
these various groups commenced in the
spring of 2010, resulting in a finalized
agreement with recommended standards
on July 30, 2010. (Joint Comments, No.
52 at p. 8) Those recommended
standards were reported in percentages
of energy use reductions and in annual
energy use based on the test procedure
then in place but after DOE had
published its NOPR proposing to amend
that procedure. (Id. See also 75 FR
29824 (May 27, 2010)) DOE neither
organized nor was a member of the
group but made its contractors available
to perform data processing. Consistent
with its legal obligations when
developing an energy conservation
standard, DOE provided the public with
the opportunity to comment on the
proposed levels that DOE considered
adopting for refrigeration products in
12 DOE Docket No. EERE–2008–BT–STD–0012,
Comment 49. DOE considered the Joint Comments
to supersede earlier comments by the listed parties
regarding issues subsequently discussed in the Joint
Comments.
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the NOPR, which mirror those
recommended in the Joint Comments.
DOE published the NOPR on
September 27, 2010. 75 FR 59470. The
NOPR and its accompanying NOPR TSD
described the analyses that DOE
conducted after the preliminary
analyses, including revisions of analyses
to address stakeholder comments. The
additional analyses performed during
the NOPR phase included the consumer
subgroup analysis, manufacturer impact
analysis, employment impact analysis,
utility impact analysis, environmental
analysis, and regulatory impact analysis.
The NOPR discussed all of the NOPR
analyses in depth, including the
revision of analyses initially conducted
in the preliminary analysis phase. (see
75 FR at 59485–59530 (September 27,
2010)) DOE held a public meeting to
discuss the NOPR on October 14, 2010.
At the meeting, DOE presented its
analyses and raised issues for comment.
The issues discussed at the meeting
included the measurement changes
associated with the new test procedures
under consideration, product classes,
product class definitions, status of
specific technologies (e.g. highefficiency compressors, VIPs, and
isobutane refrigerant), max-tech levels,
energy use equation slope changes,
adjustments to the methodology for field
energy use estimates, maintenance
costs, efficiency distributions, energy
standard round-off, impacts on small
manufacturers, setting built-in standards
at levels determined to have negative
consumer impacts, and DOE’s treatment
of emissions reductions. DOE
considered comments received at the
57525
public meeting and during the NOPR
comment period in finalizing the
standards.
As discussed in greater detail in
section IV.F.1 below, after publishing
the NOPR, DOE more carefully
examined trends in product prices and
the possible impact of such trends on its
analyses. On February 22, 2011, DOE
published a notice of data availability
(NODA) that discussed the approach it
was considering to use in its forecasts of
product prices. 76 FR 9696. DOE
requested comments on the information
provided in the NODA, and several
stakeholders responded, including some
that had not commented on the NOPR.
Table II.2 below lists the stakeholders
that provided comments on the NOPR
and the NODA.
TABLE II.2—STAKEHOLDERS PROVIDING COMMENTS ON THE NOPR AND NODA
Written
comments
Acronym
Air-Conditioning, Heating, and Refrigeration Institute .................................
American Council for an Energy Efficient Economy ...................................
American Gas Association ..........................................................................
American Public Power Association ............................................................
Appliance Standards Awareness Project (ASAP) .......................................
Appliance Standards Awareness Project (ASAP) and Others 13 ................
AHRI ...................
ACEEE ................
AGA ....................
APPA ..................
ASAP ..................
Joint Advocates’
Comment (JAC).
AHAM ..................
IOUs ....................
CFA .....................
Earthjustice .........
EEI ......................
Electrolux ............
GE .......................
Ingersoll Rand .....
NCLC ..................
NRDC ..................
NEEP ..................
NEEA ..................
NPCC ..................
PRC ....................
IR
EA
UA
UA
EA
EA, CA
........................
........................
........................
........................
✓
........................
NODA
NODA
NODA
NOPR
NODA
NOPR
IR
U
CA
EA
UA
M
M
M
CA
EA
EA
EA
UA
FG
✓
........................
........................
✓
........................
✓
✓
........................
........................
........................
........................
........................
✓
........................
NOPR, NODA
NOPR, NODA
NODA
NOPR
NOPR, NODA
PGEC ..................
SMUD .................
SC .......................
Sub Zero .............
Traulsen ..............
Whirlpool .............
U
U
U
M
M
M
........................
........................
........................
........................
........................
✓
NOPR
NOPR
NOPR, NODA
NOPR
NODA
NOPR
Association of Home Appliance Manufacturers ..........................................
California Investor-Owned Utilities ..............................................................
Consumer Federation of America ...............................................................
Earthjustice ..................................................................................................
Edison Electric Institute ...............................................................................
Electrolux Home Products ...........................................................................
General Electric Consumer and Industrial ..................................................
Ingersoll Rand Residential Solutions ..........................................................
National Consumer Law Center ..................................................................
Natural Resources Defense Council ...........................................................
Northeast Energy Efficiency Partnerships ...................................................
Northwest Energy Efficiency Alliance ..........................................................
Northwest Power and Conservation Council ..............................................
People’s Republic of China WTO/TBT National Notification & Enquiry
Center.
Portland General Electric Company ............................................................
Sacramento Municipal Utility District ...........................................................
Southern Company ......................................................................................
Sub Zero-Wolf, Inc ......................................................................................
Traulsen .......................................................................................................
Whirlpool Corporation ..................................................................................
Type *
NOPR oral
comments
Name
NOPR
NODA
NODA
NODA
NODA
NODA
NOPR
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* IR: Industry Representative; M: Manufacturer; EA: Efficiency/Environmental Advocate; CA: Consumer Advocate; CS: Component Supplier:
TE: Technical Expert: I: Individual; U: Utility; UA: Utility Advocate; FG: Foreign Government Agency.
DOE notes that comments from the
PRC indicated that it received notice of
the September 27th NOPR on October
27, 2010, which permitted the Chinese
government less than 60 days to provide
13 Appliance Standards Awareness Project
(ASAP), Alliance to Save Energy (ASE), American
Council for an Energy-Efficient Economy (ACEEE),
Consumer Federation of America (CFA), National
Consumer Law Center (NCLC), Natural Resources
Defense Council (NRDC), Northeast Energy
Efficiency Partnerships (NEEP), and Northwest
Energy Efficiency Alliance (NEEA).
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comment on the proposed regulation. In
DOE’s view, the publication of the
September 2010 proposal, along with its
immediate availability on the
Government Printing Office’s Web site
(https://www.gpoaccess.gov), provided
any interested party with the specified
60 days of comment period. In future,
however, to accommodate the PRC’s
concerns, and to the extent feasible,
DOE may examine possible steps to
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ensure the availability of its proposals to
interested foreign parties.
III. General Discussion
The following section discusses
various technical aspects related to this
rulemaking. In particular, it addresses
aspects involving the test procedures for
refrigeration products, the technological
feasibility of potential standards to
assign to these products, and the
potential energy savings and economic
justification for prescribing the
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amended standards for refrigeration
products.
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A. Test Procedures
As noted above, DOE’s current test
procedures for refrigeration products
appear at 10 CFR part 430, subpart B,
appendices A1 (for refrigerators and
refrigerator-freezers) and B1 (for
freezers). DOE recently published a
notice containing both the test
procedure final rule (affecting products
manufactured prior to 2014) and an
interim final rule (for products
manufactured starting in 2014). The
final/interim final rule notice amended
Appendices A1 and B1 (which affect
pre-2014 products) and created new
Appendices A and B (which affect
products starting in 2014). Appendix A
applies to refrigerators and refrigeratorfreezers covered by today’s amended
standards (i.e., those manufactured or
after the 2014 compliance date
prescribed by today’s rule) and
Appendix B applies to freezers covered
by today’s amended standards. 75 FR
78810 (December 16, 2010) (this notice
contains both the final and interim final
rules that detail the test procedures for
refrigeration products). The new
Appendices A and B share many of the
same revisions and additions made in
Appendices A1 and B1, but also include
additional revisions not made in
Appendices A1 and B1. See id. at
78817–78818 DOE notes, however, that
because the new Appendices A and B
were issued as an interim final rule,
these additional amendments may be
subject to possible adjustment based on
comments that DOE receives. DOE had
previously provided commenters with
60 days within which to provide
additional feedback regarding the
interim final rule. Id. at 78810. DOE
may reopen this comment period for a
limited period of time after the
publication of today’s standards final
rule.
EPCA requires DOE to consider
during a test procedure rulemaking
whether test procedure amendments
alter the measured energy use of
products, and, if so, to amend the
energy standards. (42 U.S.C. 6293(e)(1)–
(2)) In this case, DOE simultaneously
considered the impacts of any measured
energy changes within the context of the
standards rulemaking required by
statute. Section III.A.0 discusses the
adjustment of the final energy
conservation standard with respect to
any test procedure changes. The
approach used to implement this
adjustment is also discussed in the
Section 0 below.
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1. Test Procedure Rulemaking Schedule
The NOPR analysis documents were
published, and the NOPR public
meeting was held, prior to publication
of the final rule describing the amended
test procedure on which the analysis
was based. The test procedure final/
interim final rule was issued and DOE
made copies available to all interested
parties prior to the end of the energy
conservation standard NOPR comment
period.
AHAM and GE both commented that,
despite DOE’s May 2010 publication of
its proposed test procedure, it is
difficult to prepare comments on an
energy standard when the final test
procedure is not yet known. (AHAM,
Public Meeting Transcript, No. 67 at p.
18; GE, Public Meeting Transcript, No.
67 at p. 37) AHAM clarified that
determination of the impact on energy
use measurement of the test procedure
changes cannot be done without having
a final test procedure (AHAM, Public
Meeting Transcript, No. 67 at p. 13–14,
35) In written comments, AHAM argued
that because the test procedure final/
interim final rule was not issued until
November 24, 2010, manufacturers did
not have a sufficient opportunity to test
products to evaluate the impacts of the
final test procedure changes—as a
result, AHAM claimed it was not able to
comment on the proposed energy
standard equations (AHAM, No. 73 at
pp. 1–2) 14 GE commented that the
industry wanted to know the final test
procedure before starting test work to
determine whether the energy standard
adjustments implemented by DOE in the
NOPR sufficiently represent all of the
test procedure changes. (GE, Public
Meeting Transcript, No. 67 at p. 46–47)
AHAM also asked whether any
rulemaking process options allowed
under EPCA could be considered to give
the industry more time to assess the test
procedure impacts. (AHAM, Public
Meeting Transcript, No. 67 at p. 37–38)
DOE notes that the test procedure
NOPR was published May 27, 2010,
roughly two months prior to the
completion of negotiations conducted
by industry and advocates in creating
the standards recommended in their
joint comments. 75 FR 29824 (May 27,
2010). In developing those consensus
standards, the industry and other
stakeholders had knowledge of DOE’s
test procedure proposals and ample
time to consider adjustments to the
negotiated standards to address the
proposals for today’s final rule. DOE
also notes that stakeholders have had
several months since the publication of
14 The rule was issued on November 23, 2010, not
November 24 as indicated in AHAM’s comments.
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the test procedure NOPR to quantify the
impacts of the proposed test procedure
amendments. DOE again asked
stakeholders at the energy conservation
standard NOPR public meeting for
information that would help quantify
these impacts. None was provided and
participants gave no indication that they
had performed any such testing. In the
absence of such information, DOE has
developed its own information to
finalize the energy conservation
standards, as described in section
III.A.0.
DOE notes that under EPCA, an
amended or new energy conservation
standard may not be prescribed unless
a test procedure for the regulated
product has been prescribed. See 42
U.S.C. 6295(o)(3). DOE has met this
requirement.
In response to AHAM’s request
regarding additional time to evaluate the
test procedure impacts, DOE has issued
the test procedure amendments affecting
products starting in 2014 as an interim
final rule. This approach resulted in
providing interested parties with an
additional 60 days to comment on the
interim final rule’s amendments. 75 FR
at 78810 (December 16, 2010).
Additionally, as already indicated, DOE
plans to provide interested parties with
additional time to comment on the
interim final rule. Notice of that limited
reopening of the comment period will
be provided in the Federal Register.
2. Adjustment of the Energy Standards
for the New Test Procedure
As described above, DOE amended its
test procedures for refrigeration
products. These amendments will
impact the measured energy use. DOE’s
amended standard levels incorporated
adjustments (called a ‘‘crosswalk’’) to
reflect these changes in energy use
measurements. DOE described the
crosswalk process in its September 2010
NOPR. See 75 FR at 59502–59505
(September 27, 2010). In short, DOE
applied the crosswalk to the baseline
(current energy standard) equations,
thus developing baseline energy use
equations using the new test procedure.
DOE applied the percentage energy use
reductions representing the new energy
standards to these baseline equations to
determine the new energy standards.
The NOPR also indicated that DOE
tentatively concluded that the only test
procedure changes that would be likely
to impact measured energy use are those
associated with compartment
temperatures and the volume
measurement method. 75 FR at 59505
(September 27, 2010). The term ‘‘NOPR
crosswalk’’ refers to this set of energy
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standard adjustments addressing these
two test procedure changes.
Commenters addressed both (a) the
NOPR crosswalk addressing test
procedure changes in compartment
temperatures and volume measurements
and (b) the additional test procedure
changes that could affect energy use
measurements. The NOPR public
meeting was held on October 14, 2010,
before the publication of the test
procedure final/interim final rule.
Hence, stakeholder comments from the
meeting addressed the proposed test
procedure, rather than the final one that
DOE ultimately adopted.
Whirlpool indicated that it could not
comment on the proposed standard
levels prior to publication of the test
procedure and comprehensive testing to
determine the impact of the test
procedure changes. (Whirlpool, No. 74
at p. 7) GE echoed this comment,
indicating that it is essential to have the
final test procedure to allow evaluation
of the impacts of the test procedure
changes in order to be able to comment
effectively on the proposed standard
levels. (GE, No. 76 at p. 1) AHAM
commented that the NOPR crosswalk is
partly theoretical since it uses
extrapolation and analysis to determine
adjustments for some product classes.
(AHAM, Public Meeting Transcript, No.
67 at p. 17) AHAM also commented that
it ‘‘is critical’’ to do testing to determine
the impact of the test procedure
changes, and that the industry was not
provided sufficient time between
issuance of the final/interim final rule
and the end of the comment period to
conduct such testing. (AHAM, 73 at p.
2)
The IOUs supported DOE’s approach
for adjustment of the energy standards
to address test procedure changes. In
light of the limited time available to
complete the rulemaking, the IOUs
commented that DOE’s approach was
appropriate in spite of comments by
parties at the public meeting calling for
additional testing to perform a
crosswalk. (IOUs, No. 77 at p. 2)
DOE notes that the NOPR crosswalk
was based primarily on data provided
by AHAM—which DOE described in
detail in its TSD. See chapter 5,
‘‘Engineering Analysis’’, section 5.4.2.
Because AHAM did not initially provide
data for all product classes, DOE
conducted additional analysis and
developed estimates to supplement the
gaps present in AHAM’s data. These
additional steps helped DOE to establish
appropriate crosswalks for the
remaining product classes. DOE first
presented this process in its preliminary
TSD, which DOE posted on its Web site
in November 2009. Stakeholders have
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had more than twelve months to
comment on the crosswalks for these
remaining product classes, but have not
done so.
Numerous commenters identified
other test procedure changes that they
believed would affect the measured
energy use of refrigeration products and
offered their views on how to address
them in a final crosswalk. AHAM first
indicated that the NOPR crosswalk does
not represent all of the measurement
impacts of the test procedure
modifications. (AHAM, Public Meeting
Transcript, No. 67 at p. 16; AHAM, No.
73 at p. 2) It asserted that there are many
test procedure changes and that some of
these changes, other than those changes
affecting compartment temperature and
volume calculation, can impact
measured energy use. (AHAM asserted
that the impact of these changes cannot
be determined as a sum of the impacts
of the individual changes, but did not
provide data illustrating this assertion,
nor did AHAM explain why an additive
approach is not reasonable. (Id. at p. 35–
36)) To this end, AHAM identified four
specific proposed test procedure
changes that it believed would impact
measured energy use: (1) Test
procedures addressing products with
variable anti-sweat heater control, (2)
use of the highest energy use position
for special compartments, (3)
modification of the long-time-defrost
test procedure to capture precooling
energy use, and (4) test procedures
addressing products with multiple
defrost cycle types. (Id. at 42–43) DOE
notes that AHAM identified these same
four additional test procedure changes
in its comments on the test procedure
rulemaking NOPR (AHAM, Test
Procedure for Residential Refrigerators,
Refrigerator-Freezers, and Freezers,
Docket Number EERE–2009–BT–TP–
0003, No. 16 at p. 3) In its written
comments, AHAM indicated that the
final test procedure that DOE developed
for products with variable anti-sweat
heater control does not alter measured
energy use, since DOE adopted the
procedure provided in waivers already
granted to companies who manufacture
products with such features. (AHAM,
No. 73 at p. 3)
Whirlpool asserted that applying the
highest energy usage setting for special
compartments, including procedures
designed to capture precooling energy
and to address products that use
multiple defrost cycles, will alter
measured energy use. (Whirlpool, No.
74 at p. 7)
The IOUs agreed that there were
additional test procedure changes that
could alter measured energy use that
had not been considered in establishing
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57527
the proposed standards, including test
procedures for products with variable
anti-sweat heater control, new
procedures to capture precooling energy
use, and new procedures for special
compartments. The IOUs recommended
that the energy standards should be
adjusted to account for these test
procedure changes. They noted that if
the measured impacts of these test
procedure changes have not been
determined through testing, DOE should
estimate their impact and direction of
the impact (positive or negative). They
added that if these impacts are small or
applicable to only a small portion of the
market, DOE should not adjust the
baseline energy use equations 15 to
avoid the risk of backsliding on the
standard levels. (IOUs, No. 77 at p. 2)
The IOUs indicated that they did not
have any additional data regarding the
impacts of the test procedure changes.
(Id.)
GE generally noted the importance of
conducting tests to evaluate the impacts
of the test procedure changes. It also
expressed concerns that a number of the
test procedure changes may have
significant measurement impacts. GE
did not, however, specifically identify
these test procedure changes. (GE,
Public Meeting Transcript, No. 67 at pp.
36–37) Whirlpool commented that the
test procedures addressing products
with variable anti-sweat heater controls
represent a significant test burden (in
some cases, an additional week of test
time) and could impact the measured
energy use of a given product.
(Whirlpool, Public Meeting Transcript,
No. 67 at pp. 44–45) Whirlpool further
identified electric heaters and/or fans in
special compartments that may be used
to prevent freezing in such
compartments as a factor in the
potential energy use measurement
impact of the test procedure
amendments for special compartments.
(Id.)
When asked by DOE whether there
are any manufacturer data that quantify
the impacts of the cited additional test
procedure amendments, AHAM
indicated that they did not have such
data. Instead, AHAM cited DOE’s own
statement from the refrigeration product
test procedure rulemaking public
meeting presentation discussing the
NOPR that the amendments to capture
defrost precooling energy use would
increase energy use 2 percent for one
tested product (AHAM, Public Meeting
Transcript, No. 67 at pp. 44, 45–46, 43)
15 The baseline energy use equations represent
energy use for baseline products (i.e. products
which are minimally compliant using the current
test procedure) when tested using the new test
procedure.
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AHAM further stressed the importance
of evaluating the entire modified test
procedure rather than investigating the
potential impacts from individual
changes, because the measurement
impacts of the changes may not be
additive. (Id. at pp. 26–27) However,
AHAM did not provide data illustrating
or supporting this assertion, nor did
AHAM explain why an additive
approach is not reasonable.
Stakeholders also commented on the
approach used to apply the projected
energy measurement impacts to the
energy conservation standards. When
asked by DOE during the public meeting
if the crosswalk should apply to the
population average of the minimally
compliant products, AHAM agreed,
indicating that the Joint Agreement used
the words ‘‘average’’ and ‘‘minimally
compliant’’, but that the crosswalk
should also be based on evaluating lowvolume and high-volume products to
properly reflect capacity impacts.
(AHAM, Public Meeting Transcript, No.
67 at pp. 33–34) ASAP also agreed that
the crosswalk should apply to the
‘‘average’’. (ASAP, Public Meeting
Transcript, No. 67 at p. 34) DOE agrees
that a shipment-weighted average
approach for applying the energy use
measurement impacts of test procedure
changes is appropriate and is consistent
with the requirements of EPCA. (42
U.S.C. 6293(e)(2)) Consistent with this
approach, and the requirements of 42
U.S.C. 6293(e)(2), DOE applied a
shipment-weighted approach, which
provides the best indication across all
shipped products of the magnitude of
the impact.
AHAM also commented that antibacksliding considerations would not
apply because the changes in test
procedures and energy standards will
take effect simultaneously. (AHAM,
Public Meeting Transcript, No. 67 at p.
41) DOE notes that amending a test
procedure without an accompanying
energy standard rulemaking that
increases stringency may result in an
increase in the maximum allowable
energy use for some products. Such a
change would not be allowed if the antibacksliding provisions of EPCA (42
U.S.C. 6295(o)(1)) applied to any
particular product rather than to the
average for the product class
population. However, such
considerations do not apply in this case,
as indicated by AHAM, because the test
procedure and energy standard changes
will occur simultaneously.
DOE notes that it has received no new
information from stakeholders
quantifying the changes in measured
energy use associated with any of the
test procedure changes. Hence, DOE
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adjusted its standards using the data
discussed above that AHAM provided
during the preliminary analysis phase,
as well as supplemental data and
analysis (e.g. testing DOE conducted
during the rulemaking) that DOE
developed on its own.
16763. DOE is unaware of any other
manufacturer who employs this type of
design. Accordingly, DOE is unaware of
any impact on the measured energy use
of these multiple defrost cycle products
associated with this test procedure
amendment.
a. Products With Variable Anti-Sweat
Heater Control
DOE amended its test procedures to
require the use of the procedure
currently being used by manufacturers
under waivers that DOE granted. This
procedure, along with a change to
assure the consistency of compartment
temperatures during testing, will be
required to establish compliance with
the 2014 standards for variable antisweat heater control-equipped products.
The change involves the description of
the conditions that apply to the antisweat heater wattages used in the
calculation of the anti-sweat heater
adjustment factor: the wattages will
apply to a 0 °F freezer compartment
temperature and a 39 °F fresh food
compartment temperature, rather than
the 5 °F and 45 °F, respectively, used in
the waivers. 75 FR at 78828–78830
(December 16, 2010). DOE considers
that the adjustments made to the energy
conservation standards to account for
compartment temperature changes also
apply to the adjustment factor for antisweat heaters operating with variable
control. Hence, no additional energy
standard adjustment is needed to
address this test procedure amendment.
c. Amendments To Capture Precooling
Energy Use
DOE amended the test procedure for
products with long-time or variable
defrost to capture precooling and partial
recovery energy use. Id. at 78832–78836.
Testing performed during the
engineering phase of this rulemaking
indicates that capturing precooling
energy use would yield an impact of
roughly two percent of the total
measured energy use. Additionally, the
impact of capturing the energy from full
temperature recovery (i.e. extending the
test period until the compartment
temperatures have recovered to their
steady-state levels) for products
exhibiting partial recovery may
comprise another 0.5 percent of total
measured energy use for those products
that do not achieve a full temperature
recovery within the test period
prescribed by the current test procedure.
Of the nine refrigerator-freezers tested
during the engineering analysis phase,
two of these units incorporated
precooling. These units fell into current
product classes 5 (refrigerator-freezers—
automatic defrost with bottom-mounted
freezer without through-the-door ice
service) and 7 (refrigerator-freezers—
automatic defrost with side-mounted
freezer with through-the-door ice
service). DOE is unaware of any
significant percentage of products that
currently do not fully recover
temperature within the time period
allotted by the current test procedure.
DOE has adjusted the energy standard
levels for these and related product
classes using the observed measurement
impact for capturing precooling energy
use and applying that measured impact
consistently with the frequency with
which this feature has been observed in
this group of tested products. The
adjustment details are described in
detail in section 0 below.
b. Products With Multiple Defrost Cycle
Types
DOE amended the test procedure to
address products with multiple defrost
cycle types. Id. at 78836–78838. As
explained in the test procedure final
rule, the previous procedure could not
ensure that the entire defrost energy
used for such products would be
sufficiently captured. DOE received one
test procedure waiver petition for such
products, from Samsung, requesting
waiver of the current test procedure of
Appendix A1 for products
manufactured before 2014. 76 FR 16760
(March 25, 2011). The waiver petition
requests use of the same test procedure
to address multiple defrost cycle types
that was set forth in the test procedure
interim final rule for Appendix A.
Samsung did not provide information
regarding the change in measured
energy use associated with the modified
test procedure. Furthermore, they
indicated that the current energy
efficiency standards are adequate, and
they did not request adjustment of the
standards for the products that are the
subject of the waiver petition. Id. at p.
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d. Test Procedures for Special
Compartments
DOE amended the test procedures to
require that products with special
compartments using the addition of heat
(‘‘heat addition’’) as a form of
temperature control be tested twice. The
energy use measurement of such
products will be an average of
measurements made with the special
compartment temperature controls set
in the warmest position for the first test
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and in the coldest position for the
second test. Id. at 78825–78826. Of the
eleven refrigerator-freezers purchased
for reverse engineering analysis
performed during the engineering
analysis phase, two had special
compartments with separate
temperature control. Neither of these
products used heat addition for
controlling special compartment
temperatures. In examining features of
refrigeration products on manufacturer
Web sites, DOE found that the
prevalence of special compartments in
standard-size refrigerator-freezers
comprised 20 percent of the models
examined. Id. at 78823. Because of the
limited nature of these data, DOE
conducted further study of products that
employ heat addition.
DOE identified thirteen basic models
that have heated special compartments.
In this assessment, DOE concluded that
special compartments use heaters for
temperature control if the high end of
their controllable temperature range is
significantly higher than typical fresh
food compartment temperatures. DOE
considered typical fresh food
compartment temperature to be the
default settings set at the factory. These
default settings are in the 37 °F to 39 °F
range. (see, e.g., GE Bottom Freezer
Refrigerators, No. 78 at p. 4; LG Owner’s
Manual LFX28978**, No. 79 at p. 23)
The controllable temperature range of
heated special compartments typically
reaches temperatures of up to 41 °F or
42 °F. By comparison, special
compartments that rely on cooling air to
manage temperatures do not exceed the
typical fresh food compartment
temperature range. (See, e.g., GE Bottom
Freezer Refrigerators, No. 78 at p. 18;
Use and Care Guide Electrolux
242046401, No. 80 at p. 18) The thirteen
products identified include products
from current products classes 5
(refrigerator-freezers—automatic defrost
with bottom-mounted freezer without
through-the-door ice service), 5A
(refrigerator-freezer—automatic defrost
with bottom-mounted freezer with
through-the-door ice service), and 7
(refrigerator-freezers—automatic defrost
with side-mounted freezer with
through-the-door ice service). (Heated
Special Compartments Web Pages, No.
81)
DOE does not have information on
shipment weighting for these products.
As a proxy for shipment weighting, DOE
instead determined the percentage of
available products represented by the
identified products with heated special
compartments for each of the
represented product classes. To do this,
DOE considered the number of available
products listed in the California Energy
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Commission (CEC) database, adjusted to
account for out-of-date product listings.
The details of this approach are
described in the TSD in chapter 5,
section 5.4.2.6. The calculated
percentages of products having heated
special compartments are 10.6 percent
for current product class 5A, 1.5 percent
for current product class 5, and 0.7
percent for current product class 7. DOE
used these percentages to adjust the
standards for these product classes. The
determination of the adjustment is
discussed in greater depth in section 0
below.
DOE initially conducted analysis,
described below in section IV.C.2, to
estimate what the projected impact from
the relevant test procedures would be
on the measured energy use for a
product with a heated special
compartment. Initial estimates indicated
that the change would increase
measured energy use by 5.9 percent for
this type of product. DOE also
conducted testing for two of the thirteen
products that were identified as having
heated special compartments. These
tests compared the measured energy use
not including icemaking energy use
when tested using the interim final test
procedures set forth in the new
Appendix A with a modified test
procedure in which the heated special
compartment is tested only in its coldest
setting. For both of these tests, the
Appendix A requirement to average
measurements representing the coldest
and warmest setting of the compartment
resulted in higher energy use. The
impacts were 6.5 percent for one
product and 1.7 percent for the other—
the average impact determined for these
tests was 4.1 percent, which is
somewhat lower than the estimated 5.9
percent impact.
After reviewing these results, DOE
determined that, because the test data
represent only two products, the
uncertainty associated with the average
of the measured impacts is fairly high.
As a result, DOE concluded that the
more conservative approach of basing
its adjustment of the energy standard on
the calculation rather than the limited
testing data is appropriate to ensure that
the final standard is not overly
aggressive. Taking such an approach is
consistent in this instance with EPCA’s
prohibition to make subsequent
adjustments that would increase the
permitted energy usage (or reduce the
energy efficiency) of a regulated
product. See 42 U.S.C. 6295(o)(1).
Accordingly, as described in greater
detail in section IV.C.2, the results of
the more conserevative calculation were
used to adjust the energy standard.
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57529
3. Standby and Off Mode Energy Use
DOE notes that EPCA, as amended by
EISA 2007, requires DOE to amend its
test procedures for all covered products,
including those for refrigeration
products, to include a measurement for
standby mode and off mode energy
consumption, except where current test
procedures fully address such energy
consumption. (42 U.S.C. 6295(gg)(2)) As
indicated above, DOE’s test procedures
for refrigeration products, both the
previous and recently amended
versions, already fully address standby
and off mode energy use. Whirlpool
agreed with this assessment. (Whirlpool,
No. 74 at p. 7) No commenters
challenged this assessment. Because the
test procedures address standby and off
mode energy use, the energy
conservation standards, which are based
on the test procedures, also address this
energy use.
B. Technological Feasibility
1. General
In each standards rulemaking, DOE
conducts a screening analysis based on
information gathered on all current
technology options and prototype
designs that have the potential to
improve product or equipment
efficiency. To conduct the analysis, DOE
typically develops a list of design
options for consideration in
consultation with manufacturers, design
engineers, and other interested parties.
DOE then determines which of these
options are technologically feasible.
DOE considers a design option to be
technologically feasible if it is currently
in use by the relevant industry or if a
working prototype exists. See 10 CFR
part 430, subpart C, appendix A, section
4(a)(4)(i) (providing that ‘‘[t]echnologies
incorporated in commercially available
products or in working prototypes will
be considered technologically feasible.’’)
Once DOE has determined that
particular design options are
technologically feasible, it evaluates
each one using the following additional
screening criteria: (1) Practicability to
manufacture, install, or service; (2)
adverse impacts on product utility or
availability; and (3) adverse impacts on
health or safety. (10 CFR part 430,
subpart C, appendix A, section 4(a)(4)).
Section IV.B of this notice discusses the
results of the screening analysis for
refrigeration products, namely, the
designs DOE considered, those it
screened out, and those that are the
basis for the trial standard levels (TSLs)
in this rulemaking. For further details
on the screening analysis for this
rulemaking, see chapter 4, Screening
Analysis, of the NOPR TSD.
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
2. Maximum Technologically Feasible
Levels
When DOE proposes to adopt (or not
adopt) an amended standard for a type
or class of covered product, it must
‘‘determine the maximum improvement
in energy efficiency or maximum
reduction in energy use that is
technologically feasible’’ for such
product. (42 U.S.C. 6295(p)(1))
Accordingly, DOE determined the
maximum technologically feasible
(‘‘max-tech’’) reductions in energy use
for refrigeration products in the
engineering analysis.
As described in the preliminary TSD,
DOE conducted a full analysis of a set
of product classes that comprise a large
percentage of product shipments in the
market today. DOE’s approach for
extending amended standard levels
established for these product classes to
the non-analyzed product classes is
described in chapter 2, Analytical
Framework, of the preliminary TSD, in
section 2.15. Similarly, this section of
today’s rule reports the max-tech
efficiency levels for the fully analyzed
product classes, which include Classes
3 (refrigerator-freezer—automatic
defrost with top-mounted freezer
without through-the-door ice service), 5
(refrigerator-freezers—automatic defrost
with bottom-mounted freezer without
through-the-door ice service), 7
(refrigerator-freezers—automatic defrost
with side-mounted freezer with
through-the-door ice service), 9 (upright
freezers with automatic defrost), 10
(chest freezers), 11 (compact
refrigerators and refrigerator-freezers
with manual defrost), 18 (compact chest
freezers), 3A–BI (built-in allrefrigerators—automatic defrost), 5–BI
(built-in Refrigerator-freezers—
automatic defrost with bottom-mounted
freezer without through-the-door ice
service), 7–BI (built-in Refrigeratorfreezers—automatic defrost with sidemounted freezer with through-the-door
ice service, and 9–BI (built-in upright
freezers with automatic defrost). DOE
considers the max-tech levels for these
product classes to be representative of
the max-tech levels of similar product
classes. For example, product class 7
can be considered to represent product
class 4 (refrigerator-freezers—automatic
defrost with side-mounted freezer
without through-the-door ice service)
because they are both side-mount
refrigerator-freezers, the only difference
being the through-the-door ice feature of
product class 7.
In determining the max-tech
efficiency levels of the directly analyzed
product classes, DOE used the amended
test procedures that would apply once
manufacturers are required to meet the
new standard. The efficiency levels are
defined as reductions in that portion of
the energy use not associated with
icemaking. As described in section III.A,
above, the energy use associated with
icemaking under the amended test
procedure is a fixed quantity not
correlated with an efficiency level.
Separating this fixed quantity of energy
use from the established efficiency level
allows a more direct comparison of
products, irrespective of whether a
given product is equipped with an
automatic icemaker. This approach also
allows DOE to compare the efficiency
levels based on the amended test
procedure (i.e., projections of possible
energy use reductions) against the
energy use based on the existing test
procedure and current standard.16
DOE used the full set of design
options considered applicable to these
directly analyzed product classes to
determine their max-tech efficiency
levels. (See chapter 5 of the NOPR TSD,
section 5.4.4.) Table III.1 lists the maxtech levels that DOE determined for this
rulemaking. The table also presents the
max-tech levels that are commercially
available. The max-tech levels differ
from those presented in the preliminary
TSD and are generally lower (i.e., the
percent energy use reductions are lower
for the NOPR analysis, thus, the maxtech energy use is higher). The
reduction in the max-tech efficiency
levels is due to the revisions DOE
implemented in the NOPR engineering
analysis to address new information
obtained during this phase of the
rulemaking (see the discussion of
changes made to the engineering
analysis in the NOPR, Table IV.10. 75
FR 59470, 59501–59502 (September 27,
2010)). DOE obtained the new
information through NOPR phase
interviews with manufacturers.
TABLE III.1—MAX-TECH EFFICIENCY LEVELS FOR THE REFRIGERATION PRODUCTS RULEMAKING
Efficiency level (percent
energy use reduction)
Product
class
Description
DOE analysis
(percent)
Max tech
commercially
available
(percent)
Standard-Size Refrigerator-Freezers
3 ...............
5 ...............
7 ...............
Refrigerator-freezers—automatic defrost with top-mounted freezer without through-the-door ice
service.
Refrigerator-freezers—automatic defrost with bottom-mounted freezer without through-the-door
ice service.
Refrigerator-freezers—automatic defrost with side-mounted freezer with through-the-door ice
service.
36
30
36
33
33
32
44
41
27
16
59
42
27
23
Standard-Size Freezers
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9 ...............
10 .............
Upright freezers with automatic defrost .............................................................................................
Chest freezers and all other freezers except compact freezers .......................................................
Compact Products
11 .............
18 .............
Compact refrigerators and refrigerator-freezers with manual defrost ...............................................
Compact chest freezers .....................................................................................................................
16 In other words, a product with energy usage
that is a certain percentage below the current energy
standard should remain the same percentage below
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the baseline energy use under the proposed test
procedure after subtracting icemaking energy use.
Hence, the max-tech levels expressed as a
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percentage of energy use reduction should be the
same for both sets of test procedures.
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57531
TABLE III.1—MAX-TECH EFFICIENCY LEVELS FOR THE REFRIGERATION PRODUCTS RULEMAKING—Continued
Efficiency level (percent
energy use reduction)
Product
class
Description
DOE analysis
(percent)
Max tech
commercially
available
(percent)
Built-In Products
3A–BI .......
5–BI .........
7–BI .........
9–BI .........
Built-In All-refrigerators—automatic defrost .......................................................................................
Built-In Refrigerator-freezers—automatic defrost with bottom-mounted freezer without throughthe-door ice service.
Built-In Refrigerator-freezers—automatic defrost with side-mounted freezer with through-the-door
ice service.
Built-In Upright freezers with automatic defrost ................................................................................
28
27
31
27
22
21
27
27
generally do not use all of the energy
efficient design options considered in
the DOE max-tech analyses. Prototypes
with the DOE max-tech levels have not
been identified, but the design options
are all used in commercially available
products.
DOE determined the max-tech levels
using a program initially developed by
the Environmental Protection Agency
(EPA) called the Efficient Refrigerator
Analysis program (known simply as the
ERA) to conduct energy modeling. DOE
conducted this energy modeling for
specific products examined during the
engineering analysis. DOE created
energy models for the existing products
and adjusted these models to represent
modified designs using the screened-in
design options. The max-tech levels
represent the most efficient design
option combinations applicable for the
analyzed products. This process is
described in Chapter 5 of the NOPR
TSD. See NOPR TSD, sections 5.4.4 and
5.7. DOE considered different sets of
design options for each product class, as
indicated in Table III.2.
DOE requested comments on its maxtech efficiency levels and on the
evaluated groups of design options
DOE’s analyses indicated would be
necessary to employ to achieve these
levels. 75 FR at 59484 (September 27,
2010). Sub Zero commented that DOE’s
analysis leading to the max-tech feasible
levels is reasonable. (Sub Zero, No. 69
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Table III.2 Design Options Considered
for Max Tech
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The max-tech efficiency levels
identified for commercially available
products are, in most cases, different
from the max-tech levels shown in
Table III.1. The levels in Table III.1 are
significantly higher than the
commercially available max-tech levels
for product classes 9 (upright freezers
with automatic defrost), 10 (chest
freezers), 11 (compact refrigerators and
refrigerator-freezers with manual
defrost), and 18 (compact chest
freezers). DOE determined that higher
max-tech levels for these products were
possible because available products
57532
Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
at p. 1) Sub Zero also commented that
many of the design options still
available to improve the efficiency of
freestanding products have already been
used in built-in products that are
available on the market.
Whirlpool commented that some of
the design option combinations may not
be practical, that the resulting efficiency
gains may not be additive, and that the
combinations may not be cost-effective.
Whirlpool also commented that it does
not believe that DOE has met the
obligation to demonstrate the technical
and economic feasibility of these
combinations. (Whirlpool, No. 74 at
p. 1). Whirlpool did not identify the
specific combinations that it believed to
be impractical. Accordingly, DOE has
not adjusted its max-tech analysis. DOE
adds that max-tech efficiency levels are
not required to be cost-effective levels,
but that DOE is required by EPCA to
determine the maximum improvement
that is technologically feasible, and to
explain why the standard is not set at
this level, if it is not. (42 U.S.C.
6295(p)(1))
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C. Energy Savings
1. Determination of Savings
DOE used its National Impact
Analysis (NIA) spreadsheet model to
estimate the energy savings from
amended standards for the refrigeration
products covered by this rulemaking.17
For each TSL, DOE forecasted energy
savings beginning in 2014, the year that
manufacturers would be required to
comply with amended standards, and
ending in 2043. DOE quantified the
energy savings attributable to each TSL
as the difference in energy consumption
between the standards case and the base
case. The base case represents the
forecast of energy consumption in the
absence of amended mandatory
efficiency standards and considers
market demand for more-efficient
products.
The NIA spreadsheet model calculates
the electricity savings in ‘‘site energy’’
expressed in kilowatt-hours (kWh). Site
energy is the energy directly consumed
by refrigeration products at the locations
where they are used. DOE reports
national energy savings on an annual
basis in terms of the aggregated source
(primary) energy savings, which is the
savings in the energy that is used to
generate and transmit the site energy.
(See TSD chapter 10.) To convert site
energy to source energy, DOE derived
annual conversion factors from the
model used to prepare the Energy
Information Administration’s (EIA)
17 The NIA spreadsheet model is described in
section IV.G of this rule.
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national net present value of the
economic impacts on consumers over
the forecast period used in a particular
rulemaking.
Annual Energy Outlook 2010
(AEO2010).
2. Significance of Savings
As noted above, DOE must adopt a
standard for a covered product that
results in ‘‘significant’’ energy savings.
42 U.S.C. 6295(o)(3)(B). While the term
‘‘significant’’ is not defined in the Act,
the U.S. Court of Appeals, in Natural
Resources Defense Council v.
Herrington, 768 F.2d 1355, 1373 (D.C.
Cir. 1985), indicated that Congress
intended ‘‘significant’’ energy savings in
this context to be savings that were not
‘‘genuinely trivial.’’ The energy savings
for all of the TSLs considered in this
rulemaking are nontrivial, and,
therefore, DOE considers them
‘‘significant’’ within the meaning of
section 325 of EPCA.
D. Economic Justification
1. Specific Criteria
As noted in section II.A, EPCA
provides seven factors for DOE to
consider when evaluating whether a
potential energy conservation standard
is economically justified. (42 U.S.C.
6295(o)(2)(B)(i)) The following sections
discuss how DOE has addressed each of
those seven factors in this rulemaking.
a. Economic Impact on Manufacturers
and Consumers
As required by EPCA, DOE
considered the economic impact of
potential standards on consumers and
manufacturers. (42 U.S.C.
6295(o)(2)(B)(i)(I)) For consumers, DOE
measured the economic impact as the
change in installed cost and life-cycle
operating costs (i.e., the change in LCC).
(See section 0, section 0 and chapter 8
of the final rule TSD.) DOE investigated
the impacts on manufacturers through
the manufacturer impact analysis (MIA).
(See section 0 and section 0 of today’s
final rule, and chapter 12 of the final
rule TSD accompanying this rule.) The
economic impact on consumers and
manufacturers is discussed in detail in
the NOPR. See 75 FR at 59484–59485,
59512–59516, 59519–59526, 59532–
59537, and 59537–59549 (September 27,
2010).
For individual consumers, measures
of economic impact include the changes
in life-cycle cost (LCC) and payback
period (PBP) associated with new or
amended standards. The LCC, which is
separately specified in EPCA as one of
the seven factors to be considered in
determining the economic justification
for a new or amended standard, 42
U.S.C. 6295(o)(2)(B)(i)(II), is discussed
in the following section. For consumers
in the aggregate, DOE also calculates the
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b. Life-Cycle Costs
The LCC is the sum of the purchase
price of a product (including its
installation) and the operating expense
(including energy and maintenance and
repair expenditures) discounted over
the lifetime of the product. The LCC
savings for the considered efficiency
levels are calculated relative to a base
case that reflects likely trends in the
absence of amended standards. The LCC
analysis requires a variety of inputs,
such as product prices, product energy
consumption, energy prices,
maintenance and repair costs, product
lifetime, and consumer discount rates.
DOE assumed in its analysis that
consumers will purchase the products
affected by this rule in 2014.
To account for uncertainty and
variability in specific inputs, such as
product lifetime and discount rate, DOE
uses a distribution of values with
probabilities attached to each value. A
distinct advantage of this approach is
that DOE can identify the percentage of
consumers estimated to receive LCC
savings or experience an LCC increase,
in addition to the average LCC savings
associated with a particular standard
level. Aside from identifying ranges of
impacts, DOE evaluates the LCC impacts
of potential standards on identifiable
subgroups of consumers that may be
disproportionately affected by a national
standard, such as low-income people or
the elderly.
c. Energy Savings
While the significant conservation of
energy is a separate statutory
requirement for imposing an energy
conservation standard, in determining
the economic justification of a standard,
DOE must consider the total projected
energy savings that are expected to
result directly from the standard. 42
U.S.C. 6295(o)(2)(B)(i)(III). DOE uses the
NIA spreadsheet results in its
consideration of total projected energy
savings.
d. Lessening of Utility or Performance of
Products
In establishing product classes, and in
evaluating design options and the
impact of potential standard levels, DOE
sought to develop standards for
refrigeration products that would not
lessen the utility or performance of
these products. None of the TSLs
presented in today’s final rule would
substantially reduce the utility or
performance of the products under
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consideration in the rulemaking.
However, the cost premium for features
that increase energy use, such as
multiple drawers, may increase, thus
shifting their availability to higherpriced products. 42 U.S.C.
6295(o)(2)(B)(i)(IV).
emcdonald on DSK5VPTVN1PROD with RULES3
e. Impact of Any Lessening of
Competition
EPCA requires DOE to consider any
lessening of competition that is likely to
result from setting new or amended
standards for a covered product.
Consistent with its obligations under
EPCA, DOE sought the views of the
United States Department of Justice
(DOJ). DOE asked DOJ to provide a
written determination of the impact, if
any, of any lessening of competition
likely to result from the amended
standards, together with an analysis of
the nature and extent of such impact. 42
U.S.C. 6295(o)(2)(B)(i)(V) and (B)(ii).
To assist DOJ in making such a
determination, DOE provided DOJ with
copies of both the NOPR and NOPR TSD
for review. DOJ did not provide DOE
with comments on this rulemaking.
Accordingly, DOE concludes that
today’s final rule would not be likely to
lead to a lessening of competition.
f. Need for National Energy
Conservation
Certain benefits of the amended
standards are likely to be reflected in
improvements to the security and
reliability of the Nation’s energy system.
Reductions in the demand for electricity
may also result in reduced costs for
maintaining the reliability of the
Nation’s electricity system. DOE
conducts a utility impact analysis to
estimate how standards may affect the
Nation’s needed power generation
capacity.
Energy savings from the amended
standards are also likely to result in
environmental benefits in the form of
reduced emissions of air pollutants and
greenhouse gases associated with energy
production. DOE reported the
environmental effects from the amended
standards for refrigeration products, and
from each TSL it considered, in the
environmental assessment contained in
chapter 15 in the NOPR TSD. DOE also
reported estimates of the economic
value of emissions reductions resulting
from the considered TSLs.
g. Other Factors
EPCA allows the Secretary of Energy,
in determining whether a standard is
economically justified, to consider any
other factors that the Secretary deems to
be relevant. (42 U.S.C.
6295(o)(2)(B)(i)(VII)) In developing this
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final rule, DOE also considered the
comments of the stakeholders, including
those raised in the Joint Comments,
which DOE believes sets forth a
statement by interested persons that are
fairly representative of relevant points
of view (including representatives of
manufacturers of covered products,
States, and efficiency advocates) and
contains recommendations with respect
to an energy conservation standard that
are in accordance with 42 U.S.C.
6295(o).
2. Rebuttable Presumption
As set forth in 42 U.S.C.
6295(o)(2)(B)(iii), EPCA creates a
rebuttable presumption that an energy
conservation standard is economically
justified if the additional cost to the
consumer of a product that meets the
standard is less than three times the
value of the first-year of energy savings
resulting from the standard, as
calculated under the applicable DOE
test procedure. DOE’s LCC and PBP
analyses generate values used to
calculate the payback period for
consumers of potential amended energy
conservation standards. These analyses
include, but are not limited to, the 3year payback period contemplated
under the rebuttable presumption test.
However, DOE routinely conducts an
economic analysis that considers the
full range of impacts to the consumer,
manufacturer, Nation, and environment,
as required under 42 U.S.C.
6295(o)(2)(B)(i). The results of this
analysis serve as the basis for DOE to
definitively evaluate the economic
justification for a potential standard
level (thereby supporting or rebutting
the results of any preliminary
determination of economic
justification). The rebuttable
presumption payback calculation is
discussed in section IV.F.12 and chapter
8 of the final rule TSD.
IV. Methodology and Discussion
DOE used two spreadsheet tools to
estimate the impact of today’s amended
standards. The first spreadsheet
calculates LCCs and payback periods of
new energy conservation standards. The
second one provides shipments
forecasts, and then calculates national
energy savings and net present value
impacts of new energy conservation
standards. DOE also assessed
manufacturer impacts, largely through
use of the Government Regulatory
Impact Model (GRIM). The two
spreadsheets are available online at the
rulemaking Web site: https://
www1.eere.energy.gov/buildings/
appliance_standards/residential/
refrigerators_freezers.html.
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Additionally, DOE estimated the
impacts on utilities and the
environment stemming from energy
efficiency standards for refrigeration
products. DOE used a version of EIA’s
National Energy Modeling System
(NEMS) for the utility and
environmental analyses. The NEMS
model simulates the energy sector of the
U.S. economy. EIA uses NEMS to
prepare its Annual Energy Outlook, a
widely known energy forecast for the
United States. The version of NEMS
used for appliance standards analysis is
called NEMS–BT 18, and is based on the
AEO version with minor
modifications.19 The NEMS–BT offers a
sophisticated picture of the effect of
standards because it accounts for the
interactions between the various energy
supply and demand sectors and the
economy as a whole.
A. Market and Technology Assessment
When initiating an energy
conservation standards rulemaking,
DOE develops information that provides
an overall picture of the market for the
products concerned, including the
purpose of the products, the industry
structure, and market characteristics.
This activity includes both quantitative
and qualitative assessments, based
primarily on publicly available
information. The subjects addressed in
the market and technology assessment
for this rulemaking include product
classes and manufacturers; quantities,
and types of products sold and offered
for sale; retail market trends; regulatory
and non-regulatory programs; and
technologies or design options that
could improve the energy efficiency of
the product(s) under examination. See
chapter 3, Market and Technology
Assessment, of the TSD for further
discussion of the market and technology
assessment.
Discussion presented in this section
of today’s notice primarily addresses the
scope of coverage of refrigeration
products, the product class structure,
and product class definitions. These
issues were discussed during the NOPR
public meeting. In response to
comments raised during that meeting
18 BT stands for DOE’s Building Technologies
Program.
19 The EIA allows the use of the name ‘‘NEMS’’
to describe only an AEO version of the model
without any modification to code or data. Because
the present analysis entails some minor code
modifications and runs the model under various
policy scenarios that deviate from AEO
assumptions, the name ‘‘NEMS–BT’’ refers to the
model as used here. For more information on
NEMS, refer to The National Energy Modeling
System: An Overview, DOE/EIA–0581 (98)
(Feb.1998), available at: https://tonto.eia.doe.gov/
FTPROOT/forecasting/058198.pdf.
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and from written comments, DOE has
modified the product class structure, as
discussed in section 0, below.
1. Exclusion of Wine Coolers from This
Rulemaking
The NOPR explained that wine
coolers are not covered products under
the definition for electric refrigerator,
and hence, are not covered by this
rulemaking. 75 FR at 59486 (September
27, 2010). DOE explained that it would
consider initiating a future rulemaking
to establish coverage and energy
standards for these products. Id.
Whirlpool commented that it agrees that
wine coolers do not meet the definition
of electric refrigerator, but that DOE
should reconsider its decision not to
include these products in this
rulemaking. (Whirlpool, No. 74 at p. 8)
GE commented that DOE should
regulate these products and should
consider the proper mechanism for
doing so. (GE, No. 76 at p. 2) In light of
the timetable prescribed by EPCA,
insufficient time and resources are
available for DOE to conduct the
necessary analyses for these products
within the context of the current
rulemaking. In response to the
preliminary analysis, the California
Investor Owned Utilities agreed with
DOE’s initial decision not to include
wine coolers in this rulemaking,
indicating that they operate at
temperatures outside the range defined
for refrigerators, and that they have been
covered by California’s energy standards
since 2002. (IOUs, No. 39 at p. 12) The
IOUs submitted no new comments on
this topic in response to the NOPR. Sub
Zero indicated in the preliminary
analysis public meeting that the
California energy standard for these
products has become a de-facto national
standard. (Preliminary Analysis Public
Meeting Transcript, No. 30 at pp. 108–
109). As previously indicated, DOE will
revisit the coverage of these products in
the future.
2. Product Classes
In evaluating and establishing energy
conservation standards, DOE generally
divides covered products into classes by
the type of energy used, or by capacity
or other performance-related feature that
justifies a different standard for those
products. (See 42 U.S.C. 6295(q)). In
deciding whether a feature justifies a
different standard, DOE must consider
factors such as the utility of the feature
to users. (Id.) DOE normally establishes
different energy conservation standards
for different product classes based on
these criteria. DOE’s regulations
currently set forth 18 product classes for
refrigerators, refrigerator-freezers, and
freezers.20 These classes are based on
the following characteristics: type of
unit (refrigerator, refrigerator-freezer, or
freezer), size of the cabinet (standard or
compact), type of defrost system
(manual, partial, or automatic), presence
or absence of through-the-door (TTD)
ice service, and placement of the fresh
food and freezer compartments for
refrigerator-freezers (top, side, bottom).
DOE has created 24 new product
classes to account for the increasingly
wider number of variants of products.
Six new product classes were discussed
and proposed in the preliminary
analysis phase, and an additional 13
were proposed in the NOPR. 75 FR at
59486–59487 (September 27, 2010).
Table IV.1 presents the product classes
established in this rulemaking,
including both current and new classes.
DOE changed the designation of some of
the current product classes to address
the division of these product classes.
The subsections below provide
additional details and discussion of
comments relating to the product
classes that have been added.
TABLE IV.1—PRODUCT CLASSES FOR REFRIGERATION PRODUCTS
Number
Product class
Classes Currently Listed in the CFR
1 ...........................................
2 ...........................................
3 ...........................................
4 ...........................................
5 ...........................................
6 ...........................................
7 ...........................................
8 ...........................................
9 ...........................................
10 .........................................
11 .........................................
12 .........................................
13 .........................................
14 .........................................
15 .........................................
16 .........................................
17 .........................................
18 .........................................
Refrigerators and refrigerator-freezers with manual defrost.
Refrigerator-freezers—partial automatic defrost.
Refrigerator-freezers—automatic defrost with top-mounted freezer without an automatic icemaker.
Refrigerator-freezers—automatic defrost with side-mounted freezer without an automatic icemaker.
Refrigerator-freezers—automatic defrost with bottom-mounted freezer without an automatic icemaker.
Refrigerator-freezers—automatic defrost with top-mounted freezer with through-the-door ice service.
Refrigerator-freezers—automatic defrost with side-mounted freezer with through-the-door ice service.
Upright freezers with manual defrost.
Upright freezers with automatic defrost without an automatic icemaker.
Chest freezers with manual defrost and all other freezers except compact freezers.
Compact refrigerators and refrigerator-freezers with manual defrost.
Compact refrigerator-freezers—partial automatic defrost.
Compact refrigerator-freezers—automatic defrost with top-mounted freezer.
Compact refrigerator-freezers—automatic defrost with side-mounted freezer.
Compact refrigerator-freezers—automatic defrost with bottom-mounted freezer.
Compact upright freezers with manual defrost.
Compact upright freezers with automatic defrost.
Compact chest freezers.
emcdonald on DSK5VPTVN1PROD with RULES3
Product Classes Introduced in the Preliminary TSD
1A .........................................
3A .........................................
5A .........................................
10A .......................................
11A .......................................
13A .......................................
All-refrigerators—manual defrost.
All-refrigerators—automatic defrost.
Refrigerator-freezers—automatic defrost with bottom-mounted freezer with through-the-door ice service.
Chest freezers with automatic defrost.
Compact all-refrigerators—manual defrost.
Compact all-refrigerators—automatic defrost.
20 Title 10—Energy, Chapter II—Department of
Energy, Part 430—Energy Conservation Program for
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Provisions, Section 430.32—Energy and Water
Conservation Standards and Effective Dates.
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57535
TABLE IV.1—PRODUCT CLASSES FOR REFRIGERATION PRODUCTS—Continued
Number
Product class
Additional Product Classes Proposed in the NOPR
3–BI ......................................
3I ..........................................
3I–BI .....................................
3A–BI ....................................
4I ..........................................
4–BI ......................................
4I–BI .....................................
5I ..........................................
5–BI ......................................
5I–BI .....................................
5A–BI ....................................
7–BI ......................................
9–BI ......................................
Built-in refrigerator-freezer—automatic defrost with top-mounted freezer without an automatic icemaker.
Refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic icemaker without throughthe-door ice service.
Built-in refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic icemaker without
through-the-door ice service.
Built-in all-refrigerators—automatic defrost.
Refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic icemaker without throughthe-door ice service.
Built-in refrigerator-freezers—automatic defrost with side-mounted freezer without an automatic icemaker.
Built-in refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic icemaker without
through-the-door ice service.
Refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic icemaker without
through-the-door ice service.
Built-in refrigerator-freezers—automatic defrost with bottom-mounted freezer without an automatic icemaker.
Built-in refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic icemaker without
through-the-door ice service.
Built-in refrigerator-freezer—automatic defrost with bottom-mounted freezer with through-the-door ice service.
Built-in refrigerator-freezers—automatic defrost with side-mounted freezer with through-the-door ice service.
Built-in upright freezers with automatic defrost without an automatic icemaker.
Additional Product Classes
9I ..........................................
9I–BI .....................................
13I ........................................
14I ........................................
15I ........................................
Upright freezers with automatic defrost with an automatic icemaker.
Built-in upright freezers with automatic defrost with an automatic icemaker.
Compact refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic icemaker.
Compact refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic icemaker.
Compact refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic icemaker.
emcdonald on DSK5VPTVN1PROD with RULES3
a. General Discussion Regarding Added
Product Classes
DOE introduced six new product
classes in the preliminary TSD. Two of
these, product class 5A, ‘‘automatic
defrost refrigerator-freezers with bottommounted freezer with through-the-door
ice service,’’ and product class 10A,
‘‘chest freezers with automatic defrost,’’
were identified in the framework
document as product classes 19 and 20.
DOE modified the designation of these
product classes in order to maintain
consistency with the product class
designations adopted by Canada and
ease the overall burden on
manufacturers in ascertaining which
standards to apply to these products. Id.
at 59487–59488. AHAM supported
adding the new product classes 5A and
10A. (AHAM, No. 73 at p. 6)
Four additional product classes
introduced in the preliminary TSD are
all-refrigerators. As described in the
NOPR, the new test procedure has led
DOE to establish separate product
classes for these products. Id. at 59488.
The NOPR also proposed 13
additional new product classes. These
classes are based on the incorporation of
icemaking energy use into the test
procedure and address the different
consumer utility and energy use
characteristics of built-in products. Id.
at 59489–59493.
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EPCA provides that separate product
classes be based on either (A)
consumption of a different kind of
energy from that consumed by other
covered products within such type (or
class); or (B) a capacity or other
performance-related feature which other
products within such type (or class) do
not have, where such feature justifies a
higher or lower standard from that
which applies to other products within
such type (or class). (42 U.S.C. 6295(q)).
The second of these criteria applies to
all of the new product classes in this
rulemaking. DOE detailed the reasons
for this approach in the NOPR. Id. at
59487–59493. DOE received no
comments challenging this approach.
DOE also requested comment on
whether any additional product classes
should be established as built-in or
automatic icemaker variants of products
to address the range of commercially
available products. Sub Zero
recommended including additional
product classes 9I and 9I–BI,
freestanding and built-in versions of
upright freezers with automatic defrost
equipped with an automatic icemaker.
The company asserted that such
products currently are being sold (Sub
Zero, No. 69 at p. 3) DOE’s research
confirms the existence of these two
product classes (Upright Freezers with
Automatic Icemakers, No. 86).
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AHAM and Whirlpool recommended
including product classes 9I, 9I–BI, 13I,
14I, and 15I as variants of proposed
products without through-the-door ice
service that may have automatic
icemakers. (AHAM, No. 73 at pp. 6–7;
Whirlpool, No. 74 at pp. 1–2, 3) AHAM
also recommended including product
class 9A, described as ‘‘upright freezers
with automatic defrost with an
automatic icemaker with through-thedoor ice service’’. (AHAM, No. 73 at pp.
6–7) DOE has adopted product classes
9I, 9I–BI, 13I, 14I, and 15I. DOE’s
research identified at least one existing
compact bottom-freezer product with an
automatic icemaker (product class 15I,
Compact Products with Automatic
Icemakers, No. 85 at p. 3). DOE was not
able to positively identify any compact
side-mount products with automatic
icemakers (product class 14I), nor any
compact top-mount products (product
class 13I), but did identify one existing
product whose product class is not
clearly indicated in the manufacturer’s
literature that is either a 13I or 14I
product. (Compact Products with
Automatic Icemakers, No. 85 at p. 1)
The standard levels for these classes
are equal to the standards of their
counterparts without an icemaker plus
the addition of 84 kWh to help account
for the energy consumed by the
automatic icemaker. However, the
suggested product class 9A is not a
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variant of any of the proposed product
classes. Instead, it constitutes a new
class that DOE had not considered
within the context of this rulemaking.
Accordingly, DOE is declining to
incorporate this particular class as part
of the final rule.
Lastly, Whirlpool asserted that the
negotiated agreement intended to
combine product classes 13 and 15, and
Whirlpool likewise appeared to
recommend combining product classes
13I and 15I, by grouping them together
in its comments. (Whirlpool, No. 74 at
p. 2) Whirlpool offered no support for
this view and no other comments
indicated that these product classes
should be combined. Hence, DOE is
maintaining separate classes for Classes
13, 15, 13I, and 15I.
refrigerators that are not all-refrigerators.
This latter category of refrigerator,
which does include a compartment for
the storage of food below 32 °F, is given
the name ‘‘basic refrigerator’’ in both
AHAM standards HRF–1–1979 and
HRF–1–2008. Appendix A1 and
Appendix A, respectively, both
reference these industry-developed
definitions.
AHAM supported establishing
separate product classes for allrefrigerators, indicating that these new
product classes were supported in the
negotiated agreement described in the
Joint Comments. (AHAM, No. 73 at p. 4)
However, AHAM indicated that the
product classes for refrigerators that are
not all-refrigerators should be renamed
using ‘‘basic refrigerator’’ to ensure that
they exclude all-refrigerators. (Id.)
Whirlpool supported this view.
(Whirlpool, No. 74 at p. 2)
DOE agrees with AHAM that
clarifying the product class names for
certain classes will improve overall
clarity. DOE notes that this change
affects product classes 1 (refrigerators
and refrigerator-freezers with manual
defrost) and 11 (compact refrigerators
and refrigerator-freezers with manual
defrost). (These are the product class
names as proposed—and currently used
in the CFR.) DOE has also considered
whether to rely on referencing the
definition sections of HRF–1–1979 and
HRF–1–2008, as described above, to
provide the definition for basic
refrigerator. The definitions for basic
refrigerator are the same in these
standards and they read as follows:
emcdonald on DSK5VPTVN1PROD with RULES3
b. Possible Combination of Product
Class 2 With 1, and Class 12 With 11
DOE also indicated in the NOPR that
it did not propose the combination of
two pairs of product classes that had
been discussed in the preliminary
TSD—specifically, a potential
combination of product classes 1
(refrigerators and refrigerator-freezers
with manual defrost) and 2 (refrigeratorfreezers—partial automatic defrost) and,
separately, a potential combination of
product classes 11 (compact
refrigerators and refrigerator-freezers
with manual defrost) and 12 (compact
refrigerator-freezers—partial automatic
defrost). DOE requested comment on its
proposal not to combine these pairs of
product classes. Id. at 59493. AHAM
and NPCC agreed with this proposal.
(AHAM, Public Meeting Transcript, No.
67 at p. 52; AHAM, No. 73 at p. 6;
NPCC, Public Meeting Transcript, No.
67 at p. 52) Whirlpool presented a table
suggesting that they were opposed to
keeping product classes 1 and 2
separated. (Whirlpool, No. 74 at p. 2),
but noted that it had nothing
substantive to add on this matter
because it does not manufacture these
products. (Whirlpool, No. 74 at p. 3) In
light of these comments, which
generally favored DOE’s proposed
approach, DOE is not combining these
product class pairs.
3.1.1 Basic Refrigerator A refrigerator
which includes a low temperature
compartment for the freezing and storage of
ice and intended for short-term storage of
food at temperatures below 32 °F (0 °C) and
normally above 8 °F (¥13.3 °C). It is
characterized by a refrigerated surface(s) that
partially encloses the low temperature
compartment and cools the fresh food
compartment by natural convection. It
frequently has a partition (called the chiller
or drip tray) which when removed or
adjusted exposes an additional area of the
refrigerated surface to the fresh food
compartment.
HRF–1–1979, HRF–1–2008, section 3.1.1.
c. All-Refrigerators and Basic
Refrigerators
All-refrigerators are refrigerators that
do not have a compartment for the
freezing and long-term storage of food
below 32 °F, but which may have a
compartment not larger than 0.5 cubic
foot in size for freezing and storage of
ice. (10 CFR part 430, subpart B,
appendix A1, section 1.2) The definition
for refrigerator appears in 10 CFR 430.2
and it includes both all-refrigerators and
DOE notes two concerns regarding
this definition of basic refrigerator.
First, the definition does not define a
lower size limit for the low temperature
compartment, nor does it specify a
temperature range for it. The clause
‘‘short-term storage of food at
temperatures below 32 °F’’ does not
distinguish the temperature range of
such a compartment from the
compartment of an all-refrigerator that is
‘‘for freezing and storage of ice’’, since
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freezing and storage of ice also requires
temperatures less than 32 °F. As a
result, it is not clear whether a product
with a low temperature compartment
capable of reaching temperatures less
than 32 °F and above 8 °F and a size no
greater than 0.5 cubic foot is an allrefrigerator or a basic refrigerator under
the AHAM definition.
Second, characterizing the basic
refrigerator by describing the lowtemperature compartment’s sides and
how they transfer cooling air to the fresh
food compartment could exclude some
types of refrigerators from AHAM’s
basic refrigerator definition. For
instance, a product that uses a fan to
provide forced convection transfer of
cooling air to the fresh food
compartment from the refrigerated
surfaces enclosing the low-temperature
compartment would not fit the
definition. If the product class were
renamed using ‘‘basic refrigerators’’,
such products that do not fit the basic
refrigerator definition would not be
included within the product class. A
manufacturer could claim such a
product is not covered, assuming it does
not meet the requirements of the allrefrigerator definition either.
To resolve these issues, DOE has
decided to clarify the product class
names for product classes 1 and 11,
indicating that these product classes do
not include all-refrigerators. The new
names for these product classes are ‘‘1.
Refrigerator-freezers and refrigerators
other than all-refrigerators with manual
defrost’’ and ‘‘11. Compact refrigeratorfreezers and refrigerators other than allrefrigerators with manual defrost.’’ DOE
has taken this approach rather than
using the term ‘‘basic refrigerator’’ and
modifying its definition, thus allowing
the existing definition for basic
refrigerator to retain its current
meaning.
AHAM provided in its written
comments a table (Table A) showing the
suggested changes to all of the product
class names. A similar table appears in
Whirlpool’s comments. In addition to
the suggested name changes for product
classes 1 and 11, AHAM and Whirlpool
included the following suggestions.
• Inclusion of basic refrigerators in
product class 3.
• Correction of the proposed name for
product class 11A.
• Insertion of an ‘‘s’’ to pluralize ‘‘allrefrigerators’’ in the product class 13
name.
(AHAM, No. 73 at p. 5; Whirlpool, No.
74 at p. 2)
DOE notes that basic refrigerators
have not previously been part of
product class 3 (they instead have been
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part of product class 1), which makes
the incorporation of this suggestion
inappropriate. DOE notes that product
class 3 denotes ‘‘Refrigerator-freezersautomatic defrost with top-mounted
freezer without an automatic icemaker’’.
Basic refrigerators do not belong in this
product class because they are not
refrigerator-freezers. For this reason,
DOE is declining to adopt this
suggestion and will retain its proposed
name for this class —‘‘refrigeratorfreezers—automatic defrost with topmounted freezer without an automatic
icemaker’’ as proposed. However, DOE
agrees with the other two suggestions
and has implemented them in this final
rule.
d. Built-In Refrigeration Products
DOE requested comment on its
proposal to establish separate product
classes for built-in products. 75 FR at
59492 (September 27, 2010). AHAM,
Sub Zero, and Whirlpool agreed with
this proposal. (AHAM, No. 73 at p. 3;
Sub Zero, No. 69 at p. 2; Whirlpool, No.
74 at p. 3) DOE received no comments
opposing the creation of built-in
product classes.
DOE proposed to define built-in
products as any refrigerator, refrigeratorfreezer or freezer with 7.75 cubic feet or
greater total volume and 24 inches or
less depth, excluding handles and
custom front panels. Such a product
would also be designed to be encased on
the sides and rear by cabinetry, securely
fastened to adjacent cabinetry, walls or
floor, and have sides that are not fully
finished and not designed to be visible
after installation. See 75 FR at 59492
(September 27, 2010).
AHAM and NPCC noted that the
proposed definition differed from the
definition developed as part of the
consensus agreement and asked why it
was different. (AHAM, Public Meeting
Transcript, No. 67 at pp. 54–55; AHAM,
No. 73 at pp. 3–4; NPCC, Public Meeting
Transcript, No. 67 at pp. 53, 55) Sub
Zero commented that the definition
developed during the negotiations
should be adopted. (Sub Zero, No. 69 at
p. 3) Whirlpool also supported this
view. (Whirlpool, No. 74 at p. 3) AHAM
recommended that DOE adopt the
consensus agreement definition. AHAM
also pointed out that the most important
difference between the consensus
agreement definition and DOE’s
proposed definition is the specification
in the consensus definition of what is
not part of the 24-inch depth limit—
specifically, the doors, panels, and/or
handles. AHAM indicated that these
components may extend beyond 24
inches in many built-in products. In
AHAM’s view, DOE’s proposed
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definition would not account for such
situations. (AHAM, No. 73 at p. 4) The
JAC also commented that the proposed
definition was not the same as the
definition of the negotiated agreement,
and suggested that DOE adopt this
definition with any minor changes that
DOE deems necessary. (JAC, No. 75 at
p. 2)
The negotiated agreement presented
to DOE included the following
definition for built-in products:
Definition of ‘Built-in’ product class—
refrigerators, freezers and refrigerators with
freezer units that are 7.75 cubic feet or greater
in total volume and 24 inches or less cabinet
depth not including doors, handles and
custom front panels; are designed to be
totally encased by cabinetry or panels
attached during installation; are designed to
accept a custom front panel or equipped with
an integral factory-finished face; are designed
to be securely fastened to adjacent cabinetry,
walls or floor; and have sides which are not
fully finished and are not intended to be
visible after installation.
(Joint Comments, No. 52 at p. 30)
The substantive differences between
this definition and the definition DOE
proposed in its NOPR are as follows.
• The 24-inch depth allowed by the
Joint Comments definition does not
include the door depth. Technically,
this removes the depth of the door edge
and the gasket, a difference expected to
be typically about 2 inches.
• The Joint Comments mention being
‘‘totally encased’’ by cabinetry or
panels, while the proposed definition
mentions being encased on the sides
and rear by cabinetry. DOE did not
propose to use the term ‘‘totally
encased’’ as suggested in AHAM’s
preliminary analysis comment because
the door is not always encased. 75 FR
at 59492 (September 27, 2010). The Joint
Comments added ‘‘panels’’ to apply to
the cabinetry that may encase the
product.
• The Joint Comments provide that
the ‘‘panels [are] attached during
installation’’ (emphasis added).
• The Joint Comments include the
clause, ‘‘are designed to accept a custom
front panel or equipped with an integral
factory-finished face’’ whereas the
proposed definition did not include this
clause.
• The Joint Comments indicate that
the sides ‘‘are not intended to be visible
after installation’’, while the proposed
definition uses ‘‘not designed to be’’.
DOE was aware when proposing the
definition that, although establishing a
depth limitation is entirely consistent
with built-in designs and their use, the
exact dimension that would be
appropriate for this limit would be
subject to further refinement from
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57537
stakeholder discussion and comment.
DOE considers the slightly less
restrictive definition of the Joint
Comments to embody the consideration
and consensus of interested parties
regarding the appropriate dimension,
and will for this reason adopt the
suggested change to the depth
limitation.
Regarding the use of the term ‘‘totally
encased,’’ DOE recognizes the limitation
of its initially proposed approach and
that the term does not necessarily mean
fully encapsulated to the extent that
absolutely no surface of the delivered
product is visible after installation.
Hence, DOE has reverted to the use of
‘‘totally encased’’ to indicate encased on
all surfaces but the door, which clearly
needs to be accessible to consumers for
the product to function properly. DOE
also agrees to the addition of the term
‘‘panels’’ that may also serve to encase
the product, such as in the case where
a product is installed at the end of a row
of cabinets and one of the sides is
covered with a panel. Further, DOE
agrees with the inclusion of the words
‘‘attached during installation’’ in
reference to panels, since this clause
clearly distinguishes a built-in product
from a freestanding product, for which
there would be no attachment of panels
during delivery and installation.
DOE is not convinced, however, that
the clause ‘‘are designed to accept a
custom front panel or equipped with an
integral factory-finished face’’ helps
distinguish built-in products from
freestanding products, since
freestanding products generally come
with an integral factory-finished face
that is part of the door assembly. Based
on the language used in the Joint
Comments definition, as well as the
existence of built-in products that are
not designed to accept custom front
panels, DOE suspects that the purpose
of including this clause is to ensure that
built-in products that do not accept
custom front panels are not excluded
from the definition. Many built-in
products have doors with a stainless
steel finish (see, e.g., https://products.
geappliances.com/ApplProducts/
Dispatcher?REQUEST=SPECPAGE
&SKU=ZISP480DXSS&SITEID=
MON2&TABID=2). Such products are
not designed to accept custom front
panels, but otherwise have the same
distinguishing design features of built-in
products that do accept custom front
panels. DOE has decided to use
language to clarify that such products
are not excluded from the built-in
category.
Additionally, DOE believes that the
definition proposed by the Joint
Commenters in their negotiated
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agreement needs to be altered to
mitigate the risk of manufacturers
applying the built-in definition to a freestanding product. To address this risk,
DOE is requiring that a built-in product
be one that is designed, intended, and
marketed exclusively in a manner that
would be consistent with how a builtin product would be installed for
consumer use. Factors that DOE would
likely consider relevant in this context
could include whether the product is
sold in an unfinished state and how the
product is advertised. DOE believes that
by specifying these additional
conditions, the definition clearly
requires that a manufacturer take
affirmative steps establishing the builtin nature of its products. In effect, DOE
has taken the ‘‘intended’’ language
presented in the negotiated agreement’s
proposal and clarified this concept by
specifying the conditions that must be
met for a particular model to be
considered a built-in product.
Because of the problems that both
DOE and the industry have faced with
respect to the actions taken by certain
manufacturers, DOE believes that it
needs to take a stronger approach than
that proposed in the negotiated
agreement with respect to the
delineation of these products. Adopting
this stronger approach helps establish a
clear distinction between built-in and
free-standing products. Such a
distinction is necessary in light of the
considerably higher energy
consumption of these built-in products,
a fact that DOE views with some
concern. Should DOE receive reports
that manufacturers are misapplying this
definition or otherwise abusing it, DOE
will avail itself of all other options at its
disposal to correct that situation and
may re-examine this definition to assess
whether additional modifications are
required.
Accordingly, based on the above
considerations, the final definition for
built-in products will read as follows:
Built-in refrigerator/refrigerator-freezer/
freezer means any refrigerator, refrigeratorfreezer or freezer with 7.75 cubic feet or
greater total volume and 24 inches or less
depth not including doors, handles, and
custom front panels; with sides which are not
finished and not designed to be visible after
installation; and that is designed, intended,
and marketed exclusively (1) to be installed
totally encased by cabinetry or panels that
are attached during installation, (2) to be
securely fastened to adjacent cabinetry, walls
or floor, and (3) to either be equipped with
an integral factory-finished face or accept a
custom front panel.
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e. Modification of the Definition for
Compact Products
DOE proposed to eliminate the 36inch height restriction in the definition
for compact products. DOE underscored
two reasons for this change. First, DOE
noted that an increased height level
provides no energy efficiency benefit.
Second, DOE explained that the reason
for this 36-inch height restriction, which
applies to undercounter products, is not
appropriate for the majority of compact
products that are not undercounter
products. DOE requested comment on
this proposal. 75 FR at 59493–59494
(September 27, 2010).
ASAP and AHAM both indicated that
the consensus agreement did not
eliminate the 36-inch height limitation
for compact products. (ASAP, Public
Meeting Transcript, No. 67 at pp. 57–58;
AHAM, Public Meeting Transcript, No.
67 at p. 58; AHAM, No. 73 at p. 6) (DOE
notes that the consensus agreement is
silent on this definition. (See, generally,
Joint Comments, No. 52)) Whirlpool
commented that the current 36-inch
limitation should be retained to
maintain consistency with the
consumer’s view of compact, and
prevent ‘‘gaming’’, i.e., circumvention.
(Whirlpool, No. 74 at p. 3) The JAC
agreed, noting that this limit helps to
distinguish compact products from
standard-size products and prevents the
weakening of standards in other
countries where products taller than 36’’
but within the 7.75 cubic foot volume
limit are more prevalent. (JAC, No. 75 at
p. 2)
Whirlpool’s comments do not indicate
how removing the 36-inch limitation
could lead to circumvention. The new
test procedure includes a modified
volume calculation method that was
specifically developed to limit
circumvention associated with false
volume claims. 75 FR at 78839–78840
(December 16, 2010). Further, given the
importance of volume as an attribute
important to consumers,21 DOE does not
believe that consumers will consider
tall, but low-volume, products to be
standard-size. None of the commenters
took issue with any of the analysis or
any of the reasons that DOE presented
in the NOPR to support the decision to
propose eliminating the height
restriction. DOE notes that the impact of
U.S. standards in other countries, while
an important concern, are factors
beyond the scope of DOE’s authority to
21 See, for example the discussion of the
importance of product volume in the 1995 TSD
supporting the rulemaking to establish the 2001
energy conservation standard, in the discussion
regarding increasing insulation thickness in Section
3, page 3–6.
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control. Hence, DOE is eliminating the
height restriction as proposed.
f. Icemaking
DOE requested comments on its
proposal to establish product classes for
products with automatic icemakers,
including its proposed approach to
account for icemakers in the product
class structure. 75 FR at 59489
(September 27, 2010). Sub Zero
expressed support for AHAM’s intent to
work cooperatively with DOE to
develop a robust repeatable laboratorybased test procedure to measure
automatic icemaking energy use. Sub
Zero also encouraged DOE to conduct
field surveys to provide information on
consumer use of ice by icemaker type
(automatic or manual), product class,
demographics, time of year, etc. This
information, when combined with the
laboratory test and accompanying
results, would allow determination of
the actual energy used by consumers to
make ice. (Sub Zero, No. 69 at p. 2) Sub
Zero did not object to DOE’s proposed
product class structure to address
icemaking. (Id.) DOE received no
comments objecting to DOE’s proposed
product class structure to integrate
icemaking energy use.
AHAM supported the approach
proposed by DOE to integrate automatic
icemaking into the product class
structure. However, AHAM suggested
that some additional product classes,
not specifically proposed by DOE, have
been sold with automatic icemakers.
(AHAM, No. 73 at pp. 5–6) These added
product classes were previously
discussed in section IV.A.2.0 above.
AHAM also commented that products
equipped with the option to install an
automatic icemaker (‘‘kitable models’’)
should be considered to be products
with icemakers, explaining that this
approach is consistent with the test
procedure and that lack of clarity on
this point would create confusion
among manufacturers. (AHAM, No. 73
at p. 6)
DOE disagrees that AHAM’s suggested
approach with respect to the treatment
of ‘‘kitable models’’ would be consistent
with the test procedure. If such a
product is installed in a residence
without the icemaker installed, it will
not use the additional energy use
allocated for automatic icemaking,
which is set at 84 kWh in the test
procedure. The added energy associated
with manual icemaking is likely to be
significantly less, as indicated by initial
test results conducted by the National
Institute for Standards and Technology
(NIST). These initial results suggest that
the energy use associated with the
mechanisms that are used to eject ice in
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automatic icemakers is significantly
greater than the energy use associated
with the thermal load of freezing the ice.
(NIST, Test Procedure for Residential
Refrigerators, Refrigerator-Freezers, and
Freezers, Docket Number EERE–2009–
BT–TP–0003, Public Meeting
Transcript, No. 10 at pp. 157–158) DOE
agrees that some understanding of the
energy use associated with manual
icemaking should be developed to allow
more accurate reporting of the energy
use of products that do not have
automatic icemakers but have freezers
that allow for the freezing and storage of
ice. However, prior to the development
of a manual icemaking factor to account
for this energy usage, better consistency
with the test procedure will be
maintained by certifying kitable models
as two separate models (i.e., with an
automatic icemaker and without an
automatic icemaker), since a consumer
may purchase either version.
B. Screening Analysis
DOE uses the following four screening
criteria to determine which design
options are suitable for further
consideration in a standards
rulemaking:
1. Technological feasibility. DOE will
consider technologies incorporated in
commercially available products or in
working prototypes to be
technologically feasible.
2. Practicability to manufacture,
install, and service. If mass production
and reliable installation and servicing of
a technology in commercially available
products could be achieved on the scale
necessary to serve the relevant market at
the time the standard comes into effect,
DOE would consider that technology
practicable to manufacture, install, and
service.
3. Adverse impacts on product utility
or product availability. If DOE
determines that a technology would
significantly impact in an adverse way
the utility of the product for significant
57539
subgroups of consumers or would result
in the unavailability of any covered
product type with performance
characteristics (including reliability),
features, sizes, capacities, and volumes
that are substantially the same as
products generally available in the
United States at the time, it will not
consider this technology further.
4. Adverse impacts on health or
safety. If DOE determines that a
technology will have significant adverse
impacts on health or safety, it will not
consider this technology further.
10 CFR part 430, subpart C, appendix
A, (4)(a)(4) and (5)(b)
In the framework document 22 and
accompanying public workshop held on
September 29, 2008, DOE identified the
energy efficient technologies under
consideration for the rulemaking
analyses. These technologies are listed
below in Table IV.2. Please see chapter
3 of the TSD for detailed descriptions of
these technology options.
TABLE IV.2—TECHNOLOGIES DOE CONSIDERED FOR RESIDENTIAL REFRIGERATION PRODUCTS
emcdonald on DSK5VPTVN1PROD with RULES3
Insulation
Improved resistivity of insulation
Increased insulation thickness
VIPs
Gas-filled panels
Gasket and Door Design
Improved gaskets
Double door gaskets
Improved door face frame
Reduced heat load for TTD feature
Anti-Sweat Heater
Condenser hot gas
Electric heater sizing
Electric heater controls
Compressor
Improved compressor efficiency
Variable-speed compressors
Linear compressors
Evaporator
Increased surface area
Improved heat exchange
Condenser
Increased surface area
Improved heat exchange
Force convection condenser
Fans and Fan Motor
Evaporator fan and fan motor improvements
Condenser fan and fan motor improvements
DOE requested, but did not receive,
any comments at either the framework
workshop or during the framework
comment period that identified
additional technologies that DOE should
consider. Likewise, DOE received no
comments recommending additional
technologies during the preliminary
Expansion Valve
Improved expansion valves
Cycling Losses
Fluid control or solenoid valve
Defrost System
Reduced energy for automatic defrost
Adaptive defrost
Condenser hot gas
Control System
Temperature control
Air-distribution control
Other Technologies
Alternative refrigerants
Component location
Alternative Refrigeration Cycles
Lorenz-Meutzner cycle
Dual-loop system
Two-stage system
Control valve system
Ejector refrigerator
Tandem system
Alternative Refrigeration Systems
Stirling cycle
Thermoelectric
Thermoacoustic
analysis or NOPR public meetings or
comment periods.
As described in chapter 4 of the TSD,
Screening Analysis, DOE screened out
several of the technologies listed in
Table IV.2 from consideration in this
rulemaking based on one or more of the
screening criteria described above. A
summary of the screening analysis
identifying technologies that were
screened out and the EPCA criteria used
for the screening is presented in Table
IV.3. The checkmarks in the table
indicate which screening criteria were
used to screen out the listed
technologies. For greater detail
22 Available at: https://www1.eere.energy.gov/
buildings/appliance_standards/residential/pdfs/
refrigerator_freezer_framework.pdf.
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Table IV.3 Summary of Screening
Analysis
In addition to this screening, DOE did
not analyze a number of technologies in
the engineering analysis because they
were judged unsuitable for improving
the measured energy use of refrigeration
products for one or more of the
following reasons:
• Technology already used in
baseline products and incapable of
generating additional energy efficiency
or reducing energy consumption;
• Technology does not reduce energy
use; or
• Insufficient data available
demonstrating benefit of the technology.
The technologies not analyzed for
these reasons include Improved
Expansion Valves, Off-Cycle Valves,
Reduced Energy for Automatic Defrost,
Condenser Hot Gas Defrost, Reduced
Heat Load for TTD Feature, Warm
Liquid or Hot Gas Refrigerant AntiSweat Heating, Electric Anti-Sweat
Heater Sizing, Electronic Temperature
Control, Air Distribution Control, Fan
Blade Improvements, and Dual Loop
System. Chapter 4 of the NOPR TSD
discusses in greater detail the reasons
for not analyzing these technologies.
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1. Discussion of Comments
DOE discussed several screening
issues in the NOPR. These issues are
summarized, along with comments
responding to the NOPR, in the sections
below.
a. Compressors
DOE explained in the NOPR that the
proprietary status of a technology is not
a screening criterion. 75 FR at 59495
(September 27, 2010). However, DOE
pointed out that selected technologies
may be screened out if their proprietary
status constrains their supply, and that
DOE must consider ‘‘the impact of any
lessening of competition * * * that is
likely to result from the imposition of
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the standard’’ (42 U.S.C.
6295(o)(2)(B)(i)(V)). DOE indicated in
the NOPR that it considered potential
supply issues of high-efficiency singlespeed and variable speed compressors,
but concluded that the compressor
performance levels analyzed would not
likely be subject to significant supply
constraints that would merit omitting
the consideration of this particular
design option. DOE requested comment
on this position. Id.
Sub Zero commented that, as a
smaller manufacturer, it may have more
difficulty obtaining high-efficiency and
variable speed compressors as
compressor vendors ramp up to meet
refrigeration product manufacturer
demands in 2014. In its view, because
of the proposed increased stringency of
the standards, larger companies will
demand many more of these
compressors than they are currently
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regarding the screening analysis, see
chapter 4 of the TSD.
Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
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using. (Sub Zero, No. 69 at p. 3) While
it is difficult to predict the events that
will occur up to the 2014 transition,
DOE notes that it reached its tentative
conclusion based on its NOPR phase
investigation that indicated the
compressor industry has been working
to develop high efficiency and variable
speed compressors for the residential
refrigeration market for many years.
(See, e.g., https://www.panasonic.com/
industrial/includes/pdf/
invertercompressorsimprovingefficiency.pdf, a discussion of
Panasonic’s development of variable
speed compressors, including initial
introduction of variable speed
compressors in refrigerators in 1996.)
These efforts led DOE to believe that the
refrigeration industry has had sufficient
lead time to prepare for the possible
increased demands for higher efficiency
and variable speed compressors.
Although the submitted comments
reiterated the concerns of certain
stakeholders, none contained
information that would help justify
altering the analysis DOE conducted
regarding the projected supply of
compressors available to manufacturers.
Whirlpool concurred with DOE’s
findings that availability of highefficiency and variable-speed
compressors will expand to meet
demand, but indicated that prices might
increase. (Whirlpool, No. 74 at p. 3)
Whirlpool did not, however, provide
any specific information about
compressor prices that would allow
DOE to accurately revise its analysis to
address this comment. Accordingly, the
analysis was not altered in this respect.
b. Alternative Refrigerants
Most refrigeration products sold in
the U.S. currently use HFC–134a
refrigerant, a hydrofluorocarbon (HFC)
with a high global warming potential
(GWP).
The NOPR described comments from
several stakeholders made in response
to the preliminary analysis. These
comments indicated that the DOE
analysis should acknowledge the
widespread acceptance of hydrocarbon
refrigerants in other parts of the world
and the growing interest in their use in
the U.S. Id. at 59496. The NOPR cited
the ongoing consideration of these
refrigerants for use in residential
refrigerators, particularly isobutane, in
Underwriters Laboratories’ (UL’s)
ongoing revision of UL Standard 250,
‘‘Household Refrigerators and Freezers’’
(UL 250), and in the EPA’s proposed
rule (see 75 FR 25799 (May 10, 2010))
to add this refrigerant to its list of
allowed substances under the
Significant New Alternatives Policy
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(SNAP) program. DOE explained in the
NOPR that the EPA proposal calls for a
total charge limit of 57 g of isobutane.
Id. at 25803 (May 10, 2010). Neither
effort has been finalized at the time of
the preparation of this notice.
The NOPR explained that DOE’s
consideration of isobutane refrigerant
was based on the 57 g limit proposed by
the EPA, and that this limit was
sufficient to allow consideration of the
use of isobutane refrigerant only for
compact refrigerators, based on the
refrigerant charge amounts of the
reverse-engineered products. The
preliminary analyses for compact
refrigerators, which did not include
isobutane refrigerant as a design option,
were adjusted during the NOPR phase to
include this design option. DOE
acknowledged in the NOPR that
multiple sealed systems could
potentially be used in larger products
without exceeding the charge limit per
sealed system, but that it rejected this
approach due to the potential reduction
of consumer utility associated with the
extra space that the additional sealed
system would require. 75 FR at 59496–
7 (September 27, 2010). DOE notes that
the EPA’s SNAP proposal did not
clearly specify whether the 57 gram
limit was intended to apply to each
sealed system or each appliance. 75 FR
at 25803 (May 10, 2010).
DOE requested comment on its
approach in considering isobutane only
for compact refrigerators.
Whirlpool commented that many
compact and full-size refrigerators using
hydrocarbon refrigerants are sold all
over the world, but that the safety
threshold in the U.S. is higher than
many other countries. Whirlpool noted
the possible tradeoffs of venting versus
capturing and transporting flammable
refrigerants—venting such refrigerants
must be done with caution, but it
alleviates the need for transport of
flammable refrigerants, which may
represent even greater risk, since many
pounds of refrigerant captured from
many products would be transported (as
opposed to ounces that are in each
individual product), and the duration of
transport is much greater than the
duration of the venting procedure.
Capture and transport, however, avoid
release of the refrigerant, thus limiting
the small global warming impact of
these refrigerants and avoiding concerns
associated with volatile organic
compound releases. Whirlpool
suggested that DOE contact the
Consumer Product Safety Commission
and/or UL regarding the safety aspects
related to the use of these refrigerants.
(Whirlpool, No. 74 at p. 4) DOE’s
assessment of the use of isobutane did
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57541
not extend to determination of the
servicing approach. DOE notes that
Section 608 of the Clean Air Act
generally prohibits any person in the
course of maintaining an appliance to
knowingly vent refrigerants from that
appliance. See generally, 42 U.S.C.
7671g. EPA regulations at 40 CFR part
82, subpart F, further clarify this
prohibition and permit only de minimis
releases where good faith attempts to
recycle or recover refrigerants are made.
GE criticized DOE’s approach. First,
GE indicated that the UL standard and
the EPA proposal are based on charge
limits per sealed system, not per
product, and that DOE did not fully
consider the potential to use dual
system designs to implement a switch to
isobutane refrigerant. Second, GE
commented that the lack of information
regarding refrigeration product
technologies using isobutane refrigerant
stems to a large extent from the fact that
this refrigerant currently is not allowed
for use in these products. GE asserted
that when the EPA SNAP approval is
finalized, much more information will
become available as products are
commercialized. (GE, Public Meeting
Transcript, No. 67 at pp. 60–61) In
written comments, GE highlighted
recent activities related to the
introduction of isobutane products,
including the EPA SNAP rulemaking
and GE’s own plans to start selling an
isobutane product. It also mentioned
that manufacturers will have to redesign
products to use this new refrigerant,
thus reiterating its view that assessing
current products does not provide a
complete picture of the potential use of
isobutane. (GE, No. 76 at p. 2)
Sub Zero commented that some
studies show that isobutane, when
limited to a charge of 57 to 60 grams,
is suitable for products up to 18 cubic
feet in volume. Further, using multiple
separate refrigeration systems, each
limited to 57 to 60 grams, would allow
the use of isobutane in many full-size
products. Sub Zero also highlighted the
current uncertainty about potential
future regulation of HFC refrigerants
and blowing agents, and suggested that
the industry could potentially be
compelled to use alternative substances
by 2014, which would require
significant additional capital
investment. The company requested
that DOE recognize in this rulemaking
the possible impacts of new
requirements for refrigerants and
blowing agents on system efficiency and
insulating performance when setting the
standards. (Sub Zero, No. 69 at p. 4)
AHAM cited three issues with DOE’s
treatment of isobutane in the NOPR:
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• There is a pending EPA Significant
New Alternatives Policy (SNAP)
decision that would approve
hydrocarbons for household use and is
expected to lead to sale of full-size
refrigeration products in the U.S. that
use isobutane refrigerant.
• DOE’s review of the suitability of
isobutane was based on review of
existing products rather than future
products.
• DOE concluded that the UL limit of
50 grams would apply to the entire
product rather than to each refrigeration
system of a product, thus overlooking
the possibility that multiple systems
could be used to produce full-size
products using isobutane.
(AHAM, No. 73 at pp. 7–8)
In response, DOE agrees that a dualsystem design would be an available
option that could, depending on the
SNAP rulemaking, permit
manufacturers to use isobutane
refrigerant within the limits of the UL
standard and the anticipated EPA rule.
DOE also acknowledges increased
manufacturer interest in this approach,
as exemplified by GE’s stated intention
to introduce such products as soon as
the EPA rule is final (see, for example,
GE’s announcement for such a product
as reported by Appliance Magazine on
October 6, 2010, https://www.
appliancemagazine.com/news.
php?article=1434814&zone=0&first=1,
GE Designs Isobutane Fridge for Smaller
Dwellings, No. 82 at p. 1). DOE
explained in the NOPR that
consideration of the potential negative
consumer utility impact of reduced
internal volume was a key reason for not
adopting isobutane refrigerant as a
design option for the larger product
classes. 75 FR at 59497 (September 27,
2010). Other considerations included
the lack of information regarding (1) the
possible emergence of new heat
exchanger designs that would alleviate
the need to consider dual system
approaches and (2) the performance
characteristics of low-charge designs
using existing heater exchanger
technology. As a result, although
isobutane products may become
available in the near future, considering
the switch to isobutane refrigerant as a
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design option to reduce energy use
could not be considered in the analysis,
because of the consumer value concerns
and the insufficient information
regarding the energy savings
characteristics and the costs of these
potential new designs.
Moreover, DOE notes that because the
parameters of whatever limits that EPA
or UL may consider are not yet final,
DOE is declining to speculate what
these final limits might be. Without
further information regarding the
elements described above, DOE cannot
ascertain the overall costs and benefits
that could be reasonably ascribed to an
isobutane refrigerant-based design.
Accordingly, in evaluating the standards
set by today’s final rule, DOE is
continuing to retain the basic approach
laid out in its NOPR and related
analyses.
c. Alternative Foam-Blowing Agents
DOE discussed in the NOPR the
potential that legislation or newly
enacted rules may restrict the use of
HFC blowing agents in the future. DOE
indicated that it was prepared to
address this issue by evaluating the
efficiency improvement and trial
standard levels for products using
alternative foam insulation materials, if
such legislation or rules banning HFCs
should be enacted or otherwise become
effective. 75 FR at 59497 (September 27,
2010). As mentioned above, Sub Zero
commented that DOE should recognize
the potential impacts of restriction on
HFC blowing agent usage in this
rulemaking. (Sub Zero, No. 69 at p. 4)
DOE recognizes that such restrictions
may occur sometime in the future.
However, as DOE explained in the
NOPR, DOE believes that basing energy
conservation standards on the uncertain
prospect of passage of specific
legislation would be speculative. Such
restrictions have not emerged within the
timeframe of the preparation of this
final rule. Hence, DOE has not adjusted
its analysis to account for this
possibility.
d. Vacuum-Insulated Panels
The NOPR discussed DOE’s
assessment of the potential issues
regarding VIP supply, longevity,
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durability, and quality that stakeholders
raised during the preliminary analysis
comment period. DOE concluded that
potential issues surrounding this
technology do not rise to a level
justifying that it be screened out. DOE
requested comment on this tentative
conclusion in the NOPR. 75 FR at
59497–59500 (September 27, 2010). Sub
Zero commented on this topic,
reiterating concerns regarding
availability, quality, and potential
impact on warranty costs associated
with the expected increase in VIP usage.
(Sub Zero, No. 69 at p. 4) Whirlpool
commented in a similar fashion,
indicating that VIPs are not appropriate
for improving efficiency in all
situations, are subject to damage during
shipment from the supplier and during
installation, and expressing concern
about the ability of VIP suppliers and
the industry to ramp up demand
sufficiently. However, the comments
provided no new information or
arguments that would impact DOE’s
conclusions regarding the viability of
VIPs. Hence, DOE’s final analysis
continues to include VIPs as a design
option.
2. Technologies Considered
DOE has concluded that: (1) All of the
efficiency levels discussed in today’s
final rule are technologically feasible;
(2) products at these efficiency levels
could be manufactured, installed, and
serviced on a scale needed to serve the
relevant markets; (3) these efficiency
levels would not force manufacturers to
use technologies that would adversely
affect product utility or availability; and
(4) these efficiency levels would not
adversely affect consumer health or
safety. Thus, the efficiency levels that
DOE analyzed and is discussing in this
notice are all achievable using
‘‘screened in’’ technology options
identified through the screening
analysis. The technologies DOE
considered for each group of products
are shown in Table IV.4.
BILLING CODE 6450–01–P
IV.4 Technologies Considered by DOE
for Residential Refrigeration Products,
by Product Group
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BILLING CODE 6450–01–C
C. Engineering Analysis
The engineering analysis uses costefficiency relationships to show the
manufacturing cost increases associated
with achieving increased efficiency.
DOE has identified the following three
methodologies to generate the
manufacturing costs needed for the
engineering analysis: (1) The designoption approach, which provides the
incremental costs of adding design
options to a baseline model that will
improve its efficiency; (2) the efficiencylevel approach, which provides the
relative costs of achieving increases in
energy efficiency levels, without regard
to the particular design options used to
achieve such increases; and (3) the cost-
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assessment (or reverse engineering)
approach, which provides ‘‘bottom-up’’
manufacturing cost assessments for
achieving various levels of increased
efficiency, based on detailed data on
costs for parts and material, labor,
shipping/packaging, and investment for
models that operate at particular
efficiency levels.
DOE conducted the engineering
analysis for this rulemaking using a
combined efficiency level/design
option/reverse engineering approach.
DOE defined efficiency levels using
percentages representing energy use
reductions. The reductions were defined
to apply to energy use (not including
icemaking energy use) measured using
the new test procedure. DOE’s premise
that efficiency levels expressed as a
percentage of energy use lower than that
of baseline products are equivalent
when calculated based on both the
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current test procedure and the new test
procedure (without icemaking energy
use) allowed DOE to compare
information developed from different
sources. However, DOE’s analysis is
based on the efficiency improvements
associated with groups of design
options. DOE developed estimates for
efficiency improvements for design
options through energy use modeling
analysis conducted for selected reverseengineered products. The energy models
were first established based on the
existing product designs and the models
were subsequently adjusted to reflect
application of the groups of design
options considered for analysis. DOE
based some of the design option
information on data gained through
reverse-engineering analysis, but also
used other sources, such as component
vendor inquiries and discussions with
manufacturers as appropriate. Details of
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the engineering analysis are provided in
the NOPR TSD chapter 5.
In the NOPR, DOE addressed
preliminary analysis comments
regarding the engineering analysis. DOE
explained the selection of product
classes for detailed analysis, adjustment
of the analyses based on new
information collected in preparation of
the NOPR, development of the baseline
energy use equations representing
baseline product energy use using the
new energy test procedure (less
automatic icemaking energy use), the
approach used to adjust the slopes of
some of these equations, the range of
efficiency levels considered, treatment
of design options in the analyses,
development of cost-efficiency curves,
and the development of standards for
low-volume product classes. 75 FR at
59500–59508 (September 27, 2010).
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1. Discussion of Comments
DOE requested comments and
information on the following topics in
the NOPR:
(1) The approach used to adjust the
slopes of the baseline energy use
equations of some product classes. Id. at
59505.
(2) The treatment of design options in
the engineering analysis. Id. at 59507.
(3) Information that would help
improve the ERA energy use model used
for the engineering analysis. Id. at
59507.
Whirlpool commented that analyzing
design options is an appropriate means
of assessing technological capability,
but that DOE should establish minimum
efficiency standards without specifying
particular design options to use. In its
view, this approach would permit
manufacturers the freedom to develop
products in a fashion which they
believe best meets the needs of
consumers. (Whirlpool, No. 74 at p. 5)
DOE notes that the standards are
expressed in terms of maximum energy
use and do not specify the use of
particular design options in satisfying
these standards.
DOE received no additional
comments on these topics.
Consequently, in the absence of any
other comments, DOE has not adjusted
its engineering analysis for the final
rule.
2. Adjustment of the Baseline Energy
Use Equations
Comments addressing adjustment of
the standard to account for test
procedure changes (the ‘‘crosswalk’’) are
discussed in section III.A.2 above. As
part of the engineering analysis, DOE
adjusted the energy standard equations
to address the modifications to the test
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procedures. DOE initially made such
adjustments during the preliminary
analysis based on consideration of the
anticipated compartment temperature
and volume calculation method
changes. DOE used an approach to
account for the test procedure changes
that involved developing energy use
equations representing baseline
products based on testing under the new
test procedures. Baseline products are
those that are minimally compliant
under the current energy standard when
tested using the current test procedure.
The initial baseline energy use
equations are presented in the
preliminary TSD in Chapter 5,
‘‘Engineering Analysis’’ in section 5.4.2.
The efficiency levels examined in this
rulemaking are represented as
percentages of energy use reductions
from the energy use of baseline
products. Hence, the efficiency levels
expressed in terms of the new test
procedures are equal to these same
percentage reductions applied to the
baseline energy use equations.
Based on the comments responding to
the preliminary analysis, as well as the
additional information DOE obtained
during the NOPR phase, DOE adjusted
the baseline energy use equations for
three product classes. These changes
corrected the low slope of the maximum
energy use equation of the current
energy standards for product classes 4
(refrigerator-freezers—automatic defrost
with side-mounted freezer without
through-the-door ice service), 5
(refrigerator-freezers—automatic defrost
with bottom-mounted freezer without
through-the-door ice service), and 5A
(refrigerator-freezer—automatic defrost
with bottom-mounted freezer with
through-the-door ice service). See the
NOPR TSD, Chapter 5, section 5.4.2.4.
The NOPR-phase adjusted baseline
energy use equations are presented in
the NOPR TSD in Chapter 5, in section
5.4.2.
Stakeholder comments recommending
further adjustment to the baseline
energy use equations to address test
procedure changes are discussed in
section III.A.2 above. These comments
addressed both (1) extrapolating the
analysis to product classes for which
DOE did not have relevant test data for
the crosswalk associated with
compartment temperature changes and
volume calculation method changes,
and (2) measurement changes, including
other test procedure changes that were
not captured in the NOPR crosswalk. As
discussed in section III.A.2, DOE has
made adjustments to account for two of
these additional test procedure
changes—those changes that capture
precooling energy use and that address
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the testing for products with heaterbased temperature control for special
compartments. The analysis to
implement these changes is discussed
below.
Special Compartments With HeaterBased Control
During the NOPR public meeting,
DOE requested information regarding
heater-based control systems used to
control the temperatures of special
compartments. DOE sought this
information to help it better understand
and evaluate the energy use impact of
these features and the manner in which
the new (then proposed) test procedure
may change the measured energy use of
products having such compartments.
DOE received no information. In the
absence of any information, DOE
developed an analysis to help represent
the energy use of these compartments,
including the change in measured
energy use associated with the new test
procedure. The calculated energy use
impact was multiplied by the
percentages of products that are
believed to have such features in each
of the applicable product classes to
develop average impacts associated with
the test procedure amendments. The
determination of the prevalence of
products with these features is
discussed in section 0 above.
The analysis describing the change in
energy use for a product with a heated
special compartment is described in the
TSD in Chapter 5, ‘‘Engineering
Analysis,’’ (Section 5.4.2.6). DOE
conducted this analysis for a baselineefficiency refrigerator-freezer with
automatic defrost and a bottommounted freezer with a total capacity of
25 cubic feet. The baseline energy use
for this product is 733 kWh per year,
excluding icemaking energy use. This
value was calculated using the baseline
energy use equation for product class 5
as presented in Table 5.4.12 of the
NOPR TSD. The special compartment
was assumed to be located at the bottom
of the fresh food compartment and to be
20 inches deep, 32 inches wide, and 4
inches high. (These dimensions were
based on one of the reverse engineered
products evaluated by DOE during the
engineering analysis. This product had
a special compartment (without heaterbased control) at the bottom of the fresh
food compartment of roughly the
selected dimensions.)
The analysis determined the energy
use for the product when tested both
with the special compartment set for its
coldest temperature and with the
compartment set at its warmest
temperature (selected as 28 °F and 42
°F, respectively, consistent with the
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widest range identified for special
compartment temperature control for
the product (see Use and Care Guide
Electrolux 242046401, No. 80 at p. 18)),
with the fresh food and freezer
compartments operating at 39 °F and 0
°F, respectively. The influences on the
compartment temperature that DOE
considered in the analysis include (1)
the 39 °F fresh food compartment air
surrounding the top, sides, back, and
front of this special compartment,
transferring heat through the 3⁄16-inch
plastic compartment wall, and the air
film thermal resistances outside and
inside the special compartment, (2) the
air near the top of the freezer
compartment, at an average temperature
of ¥5 °F (at 0 °F when the compressor
is not operating, and at ¥10 °F when
the compressor is operating and the
evaporator discharge air blows forward
along the underside of the mullion, and
assuming a 50 percent compressor run
time), transferring heat from the special
compartment through the special
compartment’s bottom surface, the 1.5inch thick mullion, and through four air
films surrounding the compartment
bottom and the mullion, (3) ¥10 °F
evaporator discharge air diverted to the
special compartment, if needed to
maintain a low temperature, and (4)
electric resistive heating, if needed to
maintain a high temperature. At the 28
°F setting for the special compartment,
a small amount of evaporator discharge
air (less than 1 cubic foot per minute)
is needed to maintain the compartment
temperature, while a heater input of 5.8
W is needed to maintain the 42 °F
setting. DOE calculated the additional
system energy use associated with
removing the 5.8 W of heat input by
assuming that the system efficiency is 5
Btu/h-W, which represents a system
with a compressor with an Energy
Efficiency Ratio (EER) rating of 5.5 and
some additional evaporator and
condenser fan power input. As
described in the TSD, Chapter 5, section
5.84, standard-size baseline refrigeratorfreezers typically use compressors with
an EER in the range 5.0 to 5.5. DOE used
the high end of this range for the
estimate, recognizing that a shipmentweighted average EER would also
include higher-efficiency compressors.
The calculated energy use impact of
the test procedure change (measurement
with the special compartment set at its
coldest temperature, as is done under
the current test procedure, as compared
with an average of tests with the special
compartment setting in the coldest
position for one test and in the warmest
position for the second test) is 43 kWh,
a 5.9 percent energy use increase. As
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discussed above in section III.A.2, DOE
has conducted testing for two products
that have heated special compartments.
The average measured impact of the test
procedure change for these productss
was 4.1 percent, suggesting that the
calculated 5.9 percent impact is
conservative. DOE chose to use the more
conservative 5.9 percent impact in
adjusting the energy conservation
standards due to the uncertainty
associated with the small data sample
and the EPCA requirements prohibiting
upward adjustment of maximum
allowable energy use after such a
standard has been set. See 42 U.S.C.
6295(o)(1).
As discussed in section III.A.2, DOE
assumed that this energy use impact
applies to the percentage of products of
applicable product classes which
currently have such features. Hence,
applying the calculated measurement
impact to the product model
percentages of 10.6 percent
(determination of this value was
discussed in section III.A.2) for current
product class 5A (refrigerator-freezer—
automatic defrost with bottom-mounted
freezer with through-the-door ice
service), 1.5 percent for current product
class 5 (refrigerator-freezers—automatic
defrost with bottom-mounted freezer
without through-the-door ice service),
and 0.7 percent for current product class
7 (refrigerator-freezers—automatic
defrost with side-mounted freezer with
through-the-door ice service) results in
average impacts for these product
classes equal to 0.62 percent for product
class 5A, 0.088 percent for product class
5, and 0.041 percent for product class 7.
Precooling
DOE conducted energy tests of nine
standard-size refrigerator-freezers
during the engineering analysis. Two of
these products exhibited precooling.
The increase in measured energy use for
these products when using the modified
approach that includes precooling
energy use was 2.3 percent for one
product and 1.7 percent for the other.
(See docket documents Precooling
Product 1 and Precooling Product 2,
Nos. 82.1 and 82.2). DOE has adopted
an average impact of 2 percent based on
these measurements. DOE calculated the
shipment-weighted average energy use
impact of precooling using this value
and the observed frequency of
precooling as follows: 2% × (2⁄9) =
0.44%. DOE applied this adjustment to
all standard-size refrigerator-freezers
with automatic defrost.
Combined Impact
To combine the impact of the two test
procedure adjustments, DOE multiplied
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the factors representing their impact.
For example, for product class 5A: 1.
0062 × 1.0044 = 1. 0106.23 This
approach addresses the need to consider
the compounding of the impact inherent
in multiple influences, similar to the
compounding of interest in finance.
DOE used similar calculations for other
product classes for which one or both of
the test-procedure-based adjustments to
the standard apply. These adjustments
are reflected in the table showing the
final baseline energy use equations in
the TSD, Chapter 5, Table 5.4.14. The
final energy standards are based on
applying the percentage energy use
reductions to these adjusted baseline
energy use equations.
D. Markups To Determine Product Cost
The markups analysis develops
appropriate markups in the distribution
chain to convert the manufacturer cost
estimates derived in the engineering
analysis to consumer prices. DOE
determined the distribution channels for
refrigeration products and the markups
associated with the main parties in the
distribution chain, manufacturers and
retailers. DOE developed an average
manufacturer markup by examining the
annual Securities and Exchange
Commission (SEC) 10–K reports filed by
four publicly-traded manufacturers
primarily engaged in appliance
manufacturing and whose combined
product range includes residential
refrigeration products. For retailers,
DOE developed separate markups for
baseline products (baseline markups)
and for the incremental cost of moreefficient products (incremental
markups). Incremental markups are
coefficients that relate the change in the
manufacturer sales price of higherefficiency models to the change in the
retailer sales price.
In response to comments that were
received on the preliminary analysis,
DOE extensively reviewed its
incremental markup approach in the
NOPR. Among the tasks DOE performed
included assembling and analyzing
relevant data from other retail sectors.
DOE found that empirical evidence is
lacking with respect to appliance
retailer markup practices when a
product increases in cost (due to
23 Note that multiplying a number by 1.000062 is
equivalent to increasing it by 0.62%. Hence, the
1.0062 factor represents the adjustment to the
energy use equation associated with the 0. 62%
increase to account for the heated special
compartment shipment-weighted average
measurement change for product class 5A.
Similarly, the 1.0044 factor represents the 0.44%
adjustment for the precooling shipment-weighted
average measurement change. The resulting factor,
1.0106, means that the energy use equation is
increased 1.06%.
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increased efficiency or other factors).
DOE understands that real-world
retailer markup practices vary
depending on market conditions and on
the magnitude of the change in cost of
goods sold (CGS) associated with an
increase in appliance efficiency.
Given this uncertainty with respect to
actual markup practices in appliance
retailing, DOE uses an approach that
reflects two key concepts. First, changes
in the efficiency of the appliances sold
are not expected to increase economic
profits. Thus, DOE calculates markups/
gross margins to allow cost recovery for
retailers (including changes in the cost
of capital) without changes in company
profits. Second, efficiency
improvements only impact some
distribution costs. DOE sets markups to
cover only the variable costs expected to
change with efficiency.
DOE’s separation of operating
expenses into fixed and variable
components to estimate an incremental
markup follows from the above
concepts. DOE defines fixed expenses as
including labor and occupancy
expenses because these costs are not
likely to increase as a result of a rise in
CGS due to amended efficiency
standards. All other expenses, as well as
the net profit, are assumed to vary in
proportion to the change in CGS. DOE
acknowledges that its allocation of
expenses into fixed and variable
categories is based largely on limited
information and sought additional
information from interested parties to
help refine its allocation approach
during the NOPR phase. DOE’s method
results in an outcome in which retailers
are assumed to cover their costs while
maintaining their profit margins when
the CGS of appliances changes.
As part of its review, DOE developed
a new breakdown into fixed and
variable components using the latest
expense data provided by the U.S.
Census for Electronics and Appliance
Stores, which cover 2002. The newlyderived incremental markup, which
would be applied to an incremental
change in CGS, is 1.17, which is slightly
higher than the value of 1.15 that DOE
used in the preliminary analysis. DOE
requested information regarding the
likely retailer responses to incremental
changes in the CGS of appliances
associated with the proposed standards.
Whirlpool stated that it would not
expect retailers to accept reduced
margins as a result of higher costing,
more efficient products, and asserted
that most major retailers are publicly
traded companies whose stockholders
demand consistent (or increasing)
margins (Whirlpool, No. 74 at p. 5) No
information or other comments were
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received addressing this issue. Given
the lack of quantitative information,
DOE has decided to continue to apply
an incremental markup to the
incremental MSP of products with
higher efficiency than the baseline
products. Chapter 6 of the final rule
TSD provides a description of both the
method and its current application.
E. Energy Use Analysis
DOE’s analysis of the energy use of
refrigeration products estimated the
annual energy use of products in the
field that would meet the considered
efficiency levels, i.e., as they are
actually used by consumers. The energy
use analysis provides the basis for other
analyses DOE performs, particularly
assessments of the energy-savings and
the savings in consumer operating costs
that could result from DOE’s adoption of
amended standard levels. In contrast to
the DOE test procedure, which provides
standardized results that can serve as
the basis for comparing the performance
of different appliances used under the
same conditions, the energy use analysis
seeks to capture the range of operating
conditions for refrigeration products in
U.S. homes.
To determine the field energy use of
products that would meet possible
amended standard levels, DOE used
data from the Energy Information
Administration (EIA)’s 2005 Residential
Energy Consumption Survey (RECS),
which was the most recent such survey
available at the time of DOE’s analysis.24
RECS is a national sample survey of
housing units that collects statistical
information on the consumption of, and
expenditures for, energy in housing
units along with data on energy-related
characteristics of the housing units and
occupants. RECS provides sufficient
information to establish the type
(product class) of refrigeration product
used in each household, and also
provides an estimate of the household’s
energy consumption attributable to
‘‘refrigerators’’ or ‘‘freezers’’. As a result,
DOE was able to develop household
samples for the representative product
classes for standard-size units. DOE did
not use RECS for compact refrigerators
and freezers because a large fraction of
these products are used outside the
residential sector. Instead, it based the
energy use for these products on the
DOE test procedure.
DOE believes that, in general, using
RECS data in the estimation of field
energy use of refrigeration products is
valid. However, it acknowledges that
the approach used in the preliminary
24 For information on RECS, see https://
www.eia.doe.gov/emeu/recs/.
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analysis has limits. To compensate for
these limits, DOE developed a new
approach for the NOPR to estimate
energy use of refrigeration products in
U.S. homes. This approach involved
collecting field-metered electricity use
data for residential refrigeration
products. Details of this approach and
the engineering assumptions that DOE
used to estimate energy use of
refrigeration products in U.S. homes
were described in chapter 7 of the
NOPR TSD. DOE sought comment on its
approach for developing energy use
estimates using field-metered data. 75
FR at 59512 (September 27, 2010).
Commenting on the NOPR TSD,
AHAM stated that DOE should rely on
the test procedure, rather than RECS
data, for determining energy use, but
offered no reason or data. (AHAM,
Public Meeting Transcript, No. 67 at p.
78).
As discussed in section IV.E of the
NOPR (75 FR at 59510 (September 27,
2010)), test procedures must be
reasonably designed to produce test
results which measure energy
efficiency, energy use or estimated
annual operating cost of a covered
product during a representative average
use cycle or period of use. (42 U.S.C.
6293(b)(3)) Relying solely on a
representative average use cycle or
period of use does not provide an
accurate measure of the possible energy
savings since this approach
inadequately evaluates the economic
impact of the standard on consumers
and the savings in operating costs
throughout the estimated life of the
product—two factors under EPCA that
DOE must consider when promulgating
an amended energy conservation
standard. Further, the approach
suggested by AHAM would not account
for the variability stemming from
household differences or be consistent
with the above-cited guidance contained
in 10 CFR part 430, subpart C, appendix
A. In contrast, the approach that DOE
has used in residential product
rulemakings for over a decade, and
continues to apply here, accounts for all
of these factors.
Sub Zero and AHAM also indicated
that more comprehensive field data be
collected, including data on ice usage
and icemaker energy consumption, for
use in future rulemakings (Sub Zero,
No. 69 at pp. 4–5; AHAM, No. 73 at p.
8). DOE has retained the approach
detailed in the NOPR for the final rule.
In future rulemakings, DOE may
evaluate the appropriateness of
collecting additional field data as
suggested by these commenters.
In order to make the 2005 RECS
sample more representative of current
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refrigeration products, DOE made two
modifications for the NOPR analysis.
First, DOE modified the RECS weights
for top- vs. bottom-mount refrigerators
in order to reflect current information
on the relationship between income and
refrigerator door style (i.e., top- or
bottom-mount) provided by AHAM in
2010. Second, DOE examined recent
data from three sources 25 to scale the
average interior volume of standard-size
refrigerator-freezers from the 2005 RECS
data. DOE requested comments on the
weighting of the RECS sample using
income relationships and volume
scaling.
Whirlpool supported efforts to reweight the RECS data to better reflect
income and volume; however, it
reiterated its previously stated
reservations regarding the outdated
nature of RECS. (Whirlpool, No. 74 at p.
5) AHAM did not view the weighting of
the RECS sample as having
meaningfully contributed to the
proposed levels, and as a result, did not
comment on these approaches. Instead,
it emphasized that the lack of comment
on its part did not signify agreement
with the approaches. (AHAM, No. 73 at
p. 8)
Given the value of continuing to
apply the RECS-based approach, the
analysis modifications to address the
limits of the RECS data, and the analysis
DOE performed using updated data from
AHAM and other sources, DOE believes
that this approach sufficiently accounts
for the full range of estimated energy
savings experienced by households.
Accordingly, DOE has retained its
above-described approach for the final
rule. However, DOE did revise its usage
adjustment factor (UAF) formulas,
which raised the average UAF by 6 to
14 percent, depending on the product
class. The revision is described in
chapter 7 of the final rule TSD.
F. Life-Cycle Cost and Payback Period
Analyses
DOE conducted LCC and PBP
analyses to evaluate the economic
impacts on individual consumers of
potential energy conservation standards
for refrigeration products. The LCC is
the total consumer expense over the life
of a product, consisting of purchase and
installation costs plus operating costs
(expenses for energy use, maintenance
and repair). To compute the operating
costs, DOE discounts future operating
costs to the time of purchase and sums
them over the lifetime of the product.
The PBP is the estimated amount of
time (in years) it takes consumers to
recover the increased purchase cost
(including installation) of a more
efficient product through lower
operating costs. DOE calculates the PBP
by dividing the change in purchase cost
(normally higher) due to a more
stringent standard by the change in
average annual operating cost (normally
lower) that results from the standard.
For any given efficiency level, DOE
measures the PBP and the change in
LCC relative to an estimate of the basecase appliance efficiency levels. The
base-case estimate reflects the market in
the absence of amended energy
conservation standards, including the
market for products that exceed the
current energy conservation standards.
For each considered efficiency level
in each product class, DOE calculated
the LCC and PBP for a nationally
representative set of housing units. For
both the NOPR and final rule analyses,
DOE developed household samples
from the 2005 RECS. For each sampled
household, DOE determined the energy
consumption for the refrigeration
product and the electricity price. By
developing a representative sample of
households, the analysis captured the
variability in energy consumption and
energy prices associated with the use of
residential refrigeration products.
57547
Inputs to the calculation of total
installed cost include the cost of the
product—which includes manufacturer
selling prices, retailer markups, and
sales taxes—and installation costs.
Inputs to the calculation of operating
costs include annual energy
consumption, energy prices and price
projections, repair and maintenance
costs, product lifetimes, discount rates,
and the year that amended standards
take effect. DOE determined the
operating costs for each sampled
household using that household’s
unique energy consumption and the
household’s energy price. DOE created
distributions of values for some inputs,
with probabilities attached to each
value, to account for their uncertainty
and variability. DOE used probability
distributions to characterize product
lifetime, discount rates, and sales taxes.
The computer model DOE uses to
calculate the LCC and PBP, which
incorporates Crystal Ball (a
commercially available software
program), relies on a Monte Carlo
simulation to incorporate uncertainty
and variability into the analysis. The
Monte Carlo simulations randomly
sample input values from the
probability distributions and household
samples. The model calculated the LCC
and PBP for products at each efficiency
level for 10,000 housing units per
simulation run. Details of the
spreadsheet model, and of all the inputs
to the LCC and PBP analyses, are
contained in the final rule TSD chapter
8 and its appendices.
Table IV.5 summarizes the approach
and data DOE used to derive inputs to
the LCC and PBP calculations. The table
provides the data and approach DOE
used for the NOPR TSD, as well as the
changes made for today’s final rule. The
subsections that follow discuss the
initial inputs and the changes DOE
made to them. Unless otherwise
specified, DOE received no comments
on these inputs.
TABLE IV.5—SUMMARY OF INPUTS AND KEY ASSUMPTIONS IN THE LCC AND PBP ANALYSIS *
Inputs
NOPR
Changes for the final rule
Installed Costs
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Product Cost .......................................................
25 California Energy Commission, Appliances
Database—Refrigeration, 1998–2009. https://
www.energy.ca.gov/appliances/database/
excel_based_files/Refrigeration/ (Last accessed
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Derived by multiplying manufacturer cost by
manufacturer and retailer markups and
sales tax, as appropriate.
April 25, 2009); The NPD Group, Inc., The NPD
Group/NPD Houseworld—POS, Refrigerators,
January–December 2008, 2007–2008, Port
Washington, NY; and Association of Home
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Applied a price trend to estimate equipment
prices in 2014.
Appliance Manufacturers, data from 2005–2008,
memoranda dated January 19, 2009 and March 26,
2010, Washington, DC.
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
TABLE IV.5—SUMMARY OF INPUTS AND KEY ASSUMPTIONS IN THE LCC AND PBP ANALYSIS *—Continued
Inputs
NOPR
Changes for the final rule
Operating Costs
Annual Energy Use ............................................
Energy Prices .....................................................
Energy Price Trends ..........................................
Repair and Maintenance Costs ..........................
Based on a multiple linear regression of fieldmetered energy use data, adjusted using a
UAF function based on 2005 RECS household characteristics.
Electricity: Based on EIA’s Form 861 data for
2007.
Variability: Regional energy prices determined
for 13 regions.
Forecasted using Annual Energy Outlook
2010 (AEO2010).
Used repair cost estimation method that estimates the rate of failure for selected components along with the incremental cost of
repair or replacement compared to the
baseline product.
Revised UAF function, raising average UAF
values by 6 to 14 percent, depending on
product class.
No change.
No change.
No change.
Present Value of Operating Cost Savings
Product Lifetime .................................................
Discount Rates ...................................................
Compliance Date of New Standard ....................
Estimated using survey results from RECS
(1990, 1993, 1997, 2001, 2005) and the
U.S. Census American Housing Survey
(2005, 2007), along with historic data on
appliance shipments.
Variability: Characterized using Weibull probability distributions.
Approach involves identifying all possible debt
or asset classes that might be used to purchase the considered appliances, or might
be affected indirectly. Primary data source
was the Federal Reserve Board’s SCF ** for
1989, 1992, 1995, 1998, 2001, 2004 and
2007.
2014 .................................................................
No change.
No change.
No change.
* References for the data sources mentioned in this table are provided in the sections following the table or in chapter 8 of the TSD.
** Survey of Consumer Finances.
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1. Product Cost
To calculate consumer product costs,
DOE multiplied the manufacturer
selling prices developed in the
engineering analysis by the supplychain markups described in section IV.E
(along with sales taxes). DOE used
different retail markups for baseline
products and higher-efficiency products
because DOE applies an incremental
markup to the MSP increase associated
with higher-efficiency products.
In the NOPR analysis, DOE assumed
that the manufacturer selling prices and
retail prices of products meeting various
efficiency levels remain fixed, in real
terms, after 2010 (the year for which the
engineering analysis estimated costs)
and throughout the analysis period.
Subsequently, examination of historical
price data for various appliances and
equipment indicates that the
assumption of constant real prices and
costs may, in many cases, over-estimate
long-term appliance and equipment
price trends. Economic literature and
historical data suggest that the real costs
of these products may in fact trend
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downward over time, partially because
of ‘‘learning’’ or ‘‘experience.’’ 26
In light of the historical data and
DOE’s aim to improve the accuracy and
robustness of its analyses, on February
22, 2011, DOE published a notice that
discussed the approach it was
considering to use to incorporate
experience in its forecasts of product
prices. 76 FR 9696. DOE requested
public comment on the potential
inclusion of this approach for its future
rulemaking activities, as well as on the
merits of adopting this approach within
the context of its ongoing rulemaking to
set standards for refrigeration products.
DOE received a number of comments
on the merits of incorporating
experience in its forecasts of product
prices. Support for the inclusion of
experience in appliance standards
rulemakings was expressed by NEEP,
26 A draft paper, ‘‘Using the Experience Curve
Approach for Appliance Price Forecasting,’’ posted
on the DOE Web site at https://www.eere.energy.gov/
buildings/appliance_standards, provides a
summary of the data and literature currently
available to DOE that is relevant to price forecasts
for selected appliances and equipment.
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NCLC, ACEEE, ASAP, NRDC, CFA,
NEEA, and the IOUs.27 (NEEP, No. 107
at p. 2; NCLC, No. 100 at pp. 1–2;
ACEEE, No. 109 at p. 1; ASAP, No. 108
at p. 1; NRDC, No. 104 at p. 2; CFA, No.
105 at p. 2; NEEA, No. 101 at p. 4; IOUs,
No. 111 and 112 at p. 1) The IOUs,
ASAP, NRDC, and CFA specifically
noted that incorporation of an
experience curve would align with other
analyses that contribute to analysis of
appliance standards, such as the
approach used in NEMS. (IOUs, No. 111
and 112 at p. 1; ASAP, No. 108 at p. 2;
NRDC, No. 104 at p. 4; CFA, No. 105 at
p. 4) ASAP and NRDC included as part
of their comments an appendix that
found that the model described in the
NODA offers appropriate methodology.
(ASAP, No. 108 at p. 10; NRDC, No. 104
at p. 5)
DOE also received a number of
comments expressing opposition to, or
27 Pacific Gas and Electric Company, Southern
California Gas Company, and San Diego Gas and
Electric submitted a joint letter, while Southern
California Edison submitted an identical letter;
comments from these letters are referred to as made
by IOUs.
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
concern with, the proposed
incorporation of experience into
forecasts of product prices. (AHAM, No.
113 at p. 1; AHRI, No. 106 at p. 2; EEI,
No. 102 at pp. 2–5; SC, No. 110 at p. 1)
The American Gas Association (AGA)
criticized the use of experience curves,
stating that the current approach offers
better opportunities to transparently
assess costs. (AGA, No. 115 at p. 2)
Traulsen, a manufacturer of commercial
refrigerators, contended that a price
decrease for technology over time only
holds true if market forces prevail.
(Traulsen, No. 99 at p. 3)
The comments that expressed
opposition or reservation regarding
application of the experience curve
approach cited several factors. Ingersoll
Rand noted that the experience curve is
at best a heuristic model, and it urged
more extensive examination of several
points related to experience curves.
(Ingersoll Rand, No. 103 at p. 2) AHAM
and AHRI noted that experience curves
apply only to specific products or
companies and should not be inflated to
industry wide cases. (AHAM, No. 113 at
pp. 53–54; AHRI, No. 106 at p. 2) AGA
noted that experience curves could be
useful for some DOE regulated products
at the early stages of development and
commercialization, but would not be
relevant to a wide range of equipment
with mature designs and markets,
including space heating and water
heating. (AGA, No. 115 at p. 2)
Similarly, AHAM stated that the
experience curve came from early-stage
industries, and at current cost reduction
rates is not reliable enough to apply in
mature industries with large cumulative
production. (AHAM, No. 113 at p. 54)
AHRI and SC noted that past
performance does not necessarily
indicate future performance, as past
trends may have reached a plateau.
(AHRI, No. 106 at pp. 2–3; SC, No. 110
at p. 2) DOE’s proposed approach used
experience curves that reflect broad
industry-wide changes resulting from
many factors. The historical data over
lengthy periods (not only early-stage
industries) suggest that experience
curves are mathematically applicable to
mature products as well as newer
products. The historic decline in
inflation-adjusted PPI of household
appliances has slowed since 2000, but
there is no evidence of a plateau.
AHAM and AHRI opposed DOE’s
analysis using prices, when experience
or experience curves are actually based
on cost. (AHAM, No. 113 at p. 55; AHRI,
No. 106 at p. 3) Ingersoll Rand stated
that while variable manufacturing costs
may assume an experience curve, fixed
costs and retail price do not. (Ingersoll
Rand, No. 103 at p. 2) EEI stated that the
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primary cause of experience is
outsourcing, so the domestic Producer
Price Index (PPI) should not be used
when a significant fraction of
manufacturers are overseas. (EEI, No.
102 at pp. 3–5) In response, DOE
acknowledges that the literature
generally approaches these effects
through the costs of production and that
the price of the relevant good will not
reflect learning as directly as the costs.
This is because the price is a reflection
of market conditions. Nevertheless, DOE
notes that experience curves can be
based on either cost or price, and that
the historical data in the case of
refrigerators show that real price
declines occurred well before
outsourcing became a significant factor
in manufacturing. DOE does not attempt
to forecast the impact of future
outsourcing of production in its
forecasts of appliance manufacturing
costs.
SC noted that the PPI incorporates a
performance correction so it would not
reflect a true price change. (SC, No. 110
at p. 4) EEI stated that refrigerators and
freezers have undergone significant
changes over the years in terms of types
and features and DOE did not explain
how they accounted for this. (EEI, No.
102 at pp. 2–3) Ingersoll Rand stated
that product performance has changed
dramatically over many years, and
therefore it is unclear what the PPI is
actually measuring. (Ingersoll Rand, No.
103 at p. 4) In response, DOE notes that
the PPI includes a quality adjustment,
which attempts to factor out physical
changes in the product that affect the
price.28 For that reason, the PPI is a
better measure of the trends in prices
than actual wholesale prices would be
without quality adjustment.
DOE also received several comments
related to forecasting error and the time
period of the data used. Ingersoll Rand
urged consideration of the expanding
uncertainty band as the forecast period
expands, and AHAM also noted that
error in forecasts increases with time.
(Ingersoll Rand, No. 103 at p. 1; AHAM,
No. 113 at pp. 59–62) EEI stated that for
refrigerators, the starting period used by
DOE corresponds to a unique, post-war
boom. (EEI, No. 102 at p. 2) SC stated
that the choice of time period for PPI
changes results. (SC, No. 110 at p. 4) In
response to these comments, DOE
conducted a sensitivity analysis that
considers different time periods for
estimating product price trends. DOE
also notes that potentially growing
28 See the Bureau of Labor Statistics’ Handbook of
Methods (Chapter 14: Producer Prices). https://
www.bls.gov/opub/hom/homch14.htm.
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57549
forecast error is diminished by the
discounting used in DOE’s analysis.
AHRI and Ingersoll Rand expressed
concern related to products that use
significant quantities of commodities, as
these prices have been volatile and
cannot be predicted. (AHRI, No. 106 at
p. 3; Ingersoll Rand, No. 103 at pp. 5–
6) DOE will rely on historical data to
determine whether commodity price
volatility is a concern when estimating
experience curves for specific products.
Some of the parties generally
supporting DOE’s proposed approach to
incorporating experience into price
forecasting for appliance standards
requested specific changes to the
proposed approach. ACEEE, NEEA,
ASAP, NRDC, and the IOUs expressed
concern with the proposal to assume no
experience curve in cases with limited
or no data; instead they recommended
using scenarios or running sensitivity
analyses to examine a range of
experience rates. (ACEEE, No. 109 at p.
1; NEEA, No. 101 at p. 5; ASAP, No. 108
at p. 3; NRDC, No. 104. at p. 5; IOUs,
No. 111 and 112 at p. 2) EEI expressed
agreement with the IOUs with respect to
running sensitivity analyses. (EEI
Supplemental Comments, No. 116 at p.
2) ASAP and NRDC also requested that,
where possible, DOE should attempt to
analyze the more efficient models of
certain products separately from the
baseline models. (ASAP, No. 108 at p.
27; NRDC, No. 104 at p. 31) Similarly,
the IOUs suggested that separate
experience coefficients should be used
for the base case and the standards case.
(IOUs, No. 111 and 112 at p. 2) In cases
with limited or no data, DOE is
considering using data at a higher level
of aggregation to estimate future product
prices. DOE’s approach in future
rulemakings will be based on available
data. At this time DOE is not aware of
data sufficient to separately analyze
baseline models and efficient models.
In conclusion, DOE evaluated the
concerns expressed about its proposed
approach for incorporating experience
in its forecasts of product prices and
determined that retaining an
assumption-based approach of a
constant real price trend was not
consistent with the historical data for
the products covered in this rule. In its
stead, DOE developed a range of
potential price trends that was
consistent with the available data. For
the default price trend for this final rule,
DOE estimated an experience rate for
residential refrigerators and freezers
based on an analysis of long-term
historical data. DOE derived a
refrigerator/freezer price index from
1947 to 2010 by creating a hybrid index
that changed proportional to PPI data
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for the period when PPI data were
available, and changed proportional to
the relevant CPI data for the period
where CPI data were available. DOE
then divided the results by the GDP
deflator for the relevant year to produce
an inflation-adjusted index. This proxy
for historic price data was then
regressed on the quantity of refrigerators
and freezers produced: a corresponding
series for total shipments of refrigerators
and freezers.
To calculate an experience rate, a
least-squares power-law fit was
performed on the refrigerator/freezer
price index versus cumulative
shipments. DOE then derived an index,
with 2010 equal to 1, to forecast prices
(using PPI and CPI data as proxies) in
2014, the compliance date for amended
energy conservation standards in the
LCC and PBP analysis, and for the NIA,
for each subsequent year through 2043.
The index value in each year is a
function of the experience rate and the
cumulative production through that
year. Projected shipments were obtained
from the base case projections made for
the NIA (see section IV.G.1 of this
notice). The average annual rate of price
decline in the default case is 1.87
percent. DOE applied the same index
value to forecast prices for each group
of refrigeration products at each
considered efficiency level.
DOE notes that experience rates may
decrease over time since returns from
experience about a single technology
may diminish over time. As part of its
sensitivity analysis, DOE included
models that derive an experience rate
based on different time periods, which
may reflect such a ‘‘flattening’’ of the
experience curve across time, as well as
a model with an explicit term that
incorporates ‘‘flattening.’’ These models
usually incorporate the decrease in
learning through a variable representing
time. DOE includes in the suite of
modeling results for learning in this
analysis models that do and do not
reflect such a ‘‘flattening’’ of learning
across time; however, the models near
the middle range of estimates in its
analysis do reflect this effect. DOE will
continue to explore the basis and the
appropriateness of incorporating for
compounding changing learning effects
for future rulemaking analyses.
For the NIA, DOE also analyzed two
sensitivity cases that use a price trend
based on an exponential in time
extrapolation of refrigeration equipment
PPI data. Because cumulative shipments
for refrigerators can be fit to an
exponential function of time for long
time periods, the experience curve
formulation and an exponential in time
extrapolation of PPI data provide
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mathematically very similar price trend
forecasts in many cases. In addition to
the default price trend, the NIA
considered a high price decline case and
a low price decline case. See section
IV.G.3 for further discussion.
In recognition of the uncertainty
regarding estimation of the future
product price trends, DOE will continue
to review the relevant literature and
seek to continually improve and refine
its methodology through research,
enhancements to its models and by
seeking public input. DOE will also
work to ensure the robustness of its data
sets as a means to ensure the reliability
of its projections.
For further information on the method
and data sources used to develop price
trends for residential refrigeration
products, see appendix 8E of the final
rule TSD.
2. Installation Cost
Installation cost includes labor,
overhead, and any miscellaneous
materials and parts needed to install the
equipment. DOE did not include an
installation cost for refrigeration
products because it understands that
this cost would be the same at all of the
considered efficiency levels.
3. Annual Energy Consumption
For each sampled household, DOE
determined the energy consumption for
a refrigeration product at different
efficiency levels using the approach
described above in section IV.E.
4. Energy Prices
DOE derived average energy prices for
13 geographic areas consisting of the
nine U.S. Census divisions, with four
large States (New York, Florida, Texas,
and California) treated separately. For
Census divisions containing one of
these large States, DOE calculated the
regional average excluding the data for
the large State.
DOE estimated average residential
electricity prices for each of the 13
geographic areas based on data from EIA
Form 861, ‘‘Annual Electric Power
Industry Database.’’ DOE calculated an
average annual regional residential
electricity price by: (1) Estimating an
average residential price for each utility
(by dividing the residential revenues by
residential sales); and (2) weighting
each utility by the number of residential
consumers served in that region (based
on EIA Form 861). DOE calculated
average commercial electricity prices in
a similar manner. For both the NOPR
and final rule analyses, DOE used EIA
data for 2007.
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5. Energy Price Projections
To estimate energy prices in future
years for the NOPR, DOE multiplied the
above average regional electricity prices
by the forecast of annual average
residential electricity price changes in
the Reference Case using AEO2010,
which has an end year of 2035.29 To
estimate the electricity price trend after
2035, DOE used the average annual rate
of change in prices from 2020 to 2035.
DOE used the same energy price
forecasts for the final rule.
6. Maintenance and Repair Costs
Repair costs are associated with
repairing or replacing components that
have failed in the appliance, whereas
maintenance costs are associated with
maintaining the operation of the
equipment. For the NOPR, DOE
developed a repair cost estimation
method that estimates the rate of failure
for selected components (compressor,
evaporator, condenser, evaporator fan,
condenser fan, electronics and
automatic icemaker). The estimated
average annual repair cost for a given
efficiency level can be expressed as the
product of two elements: the average
rate of repair of a component (expressed
as an annual probability of failure) times
the incremental cost of repair or
replacement compared to the baseline
product. DOE requested comment on its
approach used for estimating repair
costs. 75 FR at 59514 (September 27,
2010).
Sub Zero commented that VIPs could
add repair and/or replacement costs that
have not been adequately evaluated or
estimated (Sub Zero, No. 69 at p. 5).
However, they did not provide estimates
that would allow DOE to modify its
approach.
Whirlpool supported DOE’s approach
to estimate repair costs for more
efficient refrigerators and freezers.
However, it pointed out that the data
shown in Table IV.14 of the NOPR did
not appear to be consistent with the
logic expressed in section IV.F.6 of the
NOPR. It added that the use of
commercial refrigeration failure rates,
may lead to inaccuracies (Whirlpool,
No. 74 at pp. 5–6).
With regard to the alleged
inconsistency between Table IV.14 of
the NOPR (75 FR at 59514 (September
27, 2010)) and the accompanying
discussion, DOE has checked the
accuracy of the table and notes that the
table indicated only incremental repair
costs, not total repair costs, which add
between $7.66 and $21.90 depending on
29 U.S. Energy Information Administration.
Annual Energy Outlook 2010. Washington, DC.
April 2010.
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standard-size refrigerator-freezer
product class. DOE also acknowledges
the potential inaccuracy of using
commercial failure rate data, but notes
that (a) no other data were available,
and (b) these data were scaled
downward so that the total failure rate
(sum of all component failure rates) was
equal to observed rates for residential
refrigeration products as reported in
Consumer Reports (see chapter 8 of
TSD).
Accordingly, DOE retained the
approach for the final rule. Details of
this approach can be found in chapter
8 of the final rule TSD.
7. Product Lifetime
Because the basis for lifetime
estimates in the literature for
refrigeration products is uncertain, DOE
used other data sources to estimate the
distribution of standard-size refrigerator
and freezer lifetimes in the field for both
the NOPR and today’s final rule. By
combining survey results from various
years of RECS and the U.S. Census’s
American Housing Survey 30 with the
known history of appliance shipments,
DOE estimated the fraction of
appliances of a given age still in
operation. The survival function, which
DOE assumed has the form of a
cumulative Weibull distribution,
provides an average and median
appliance lifetime.
For compact refrigerators, DOE
estimated an average lifetime of 5.6
years in the NOPR using data on
shipments and the stock-in-place (i.e.,
the number of units in use). DOE found
that, given the data on historic
shipments of compact refrigerators,
using a longer lifetime would result in
an equipment stock that is far larger
than the stock given by 2005 RECS and
EIA’s 2003 Commercial Building Energy
Consumption Survey. See chapter 8 of
the final rule TSD for further details on
the method and sources DOE used to
develop product lifetimes for this final
rule.
emcdonald on DSK5VPTVN1PROD with RULES3
8. Discount Rates
To establish discount rates for the
LCC analysis, DOE identified all debt or
asset classes that might be used to
purchase refrigeration products,
including household assets that might
be affected indirectly. DOE used data
from the Federal Reserve Board’s
‘‘Survey of Consumer Finances’’ (SCF)
for 1989, 1992, 1995, 1998, 2001, 2004,
and 2007 to estimate the average
percentages of the various debt and
30 U.S. Census Bureau, American Housing
Survey. Available at: https://www.census.gov/hhes/
www/housing/ahs/ahs.html.
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equity classes in the average U.S.
household portfolios. DOE used SCF
data and other sources to develop
distributions of interest or return rates
associated with each type of equity and
debt. The average rate across all types of
household debt and equity, weighted by
the shares of each class, is 5.1 percent.
While this value corresponds to the
average discount rate, DOE assigned
each sample household a specific
discount rate drawn from the
distributions.
DOE derived the discount rate for
commercial-sector compact refrigeration
products from the cost of capital of
publicly-traded firms in the sectors that
purchase those products (including
lodging and other commercial sectors).
The firms typically finance equipment
purchases through debt and/or equity
capital. DOE estimated the cost of the
firms’ capital as the weighted average of
the cost of equity financing and the cost
of debt financing for recent years for
which data were available (2001
through 2008). The estimated average
discount rate for companies that
purchase compact refrigeration products
is 6.2 percent.
See chapter 8 in the final rule TSD for
further details on the development of
discount rates for refrigeration products.
9. Compliance Date of Amended
Standards
In the context of EPCA, the
compliance date is the future date when
parties subject to the requirements of a
new standard must begin to comply
with that standard. As described in
DOE’s semi-annual implementation
report for energy conservation standards
activities submitted to Congress, a final
rule for the refrigeration products that
are the subject of this rulemaking is
scheduled for completion. Compliance
with amended standards for
refrigeration products promulgated by
DOE is required in 2014. DOE
calculated the LCC and PBP for
refrigeration products as if consumers
would purchase new products in the
year compliance with the standard is
required.
10. Base Case Efficiency Distribution
To accurately estimate the share of
consumers that would be affected by a
standard at a particular efficiency level,
DOE’s LCC analysis considered the
projected distribution of product
efficiencies that consumers purchase
under the base case (i.e., the case
without new energy efficiency
standards). DOE refers to this
distribution of product of efficiencies as
a base-case efficiency distribution. DOE
developed base-case efficiency
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57551
distributions for each of the seven
representative product classes. These
distributions were developed from
industry-supplied data for the year 2007
and were comprised of product
efficiencies ranging from existing
baseline levels (i.e., meeting existing
energy conservation standards) to levels
meeting and exceeding ENERGY STAR
levels. DOE then projected these
distributions to the year that today’s
standards would become effective
(2014).
DOE modified its approach for
estimating base-case efficiency
distributions for the NOPR analysis for
certain product classes. DOE believes
that, because the current ENERGY STAR
efficiency level is higher than it was
prior to the requirements established in
2008, the growth in market share may be
slower than before due to the reduction
in sales generally associated with higher
cost, more efficient products. For the
NOPR, DOE adopted a projected market
share of ENERGY STAR models in 2014
(under current requirements) that is
equal to the average of ENERGY STAR
market shares in 2007 (the last year
under the old requirements) and 2008
(when current requirements took effect).
With this approach, the ENERGY STAR
market shares for product class 3
(refrigerator-freezer—automatic defrost
with top-mounted freezer without
through-the-door ice service) and
product class 5 (refrigerator-freezers—
automatic defrost with bottom-mounted
freezer without through-the-door ice
service) are projected to grow more
slowly between 2008 and 2014 than
they had under the old requirements
before 2008. ENERGY STAR products
reach a market share in 2014 of 8
percent for product class 3 and 68
percent for bottom-mount refrigeratorfreezers.
DOE requested comment on its
approach for estimating base case
efficiency distributions. 75 FR at 59515
(September 27, 2010). Whirlpool stated
it had no comment on the approach
(Whirlpool, No. 74 at p. 6), and no other
comments were received. In light of the
absence of any comments on its
approach, DOE maintained the same
approach for the final rule as it used in
the NOPR for all of the product classes.
For further information on DOE’s
estimate of base-case efficiency
distributions, see chapter 8 of the final
rule TSD.
11. Inputs To Payback Period Analysis
The payback period is the amount of
time it takes the consumer to recover the
additional installed cost of moreefficient products, compared to baseline
products, through energy cost savings.
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The simple payback period does not
account for changes in operating
expense over time or the time value of
money. Payback periods are expressed
in years. Payback periods that exceed
the life of the product indicate that the
increased total installed cost is not
recovered in reduced operating
expenses.
The inputs to the PBP calculation are
the total installed cost of the equipment
to the customer for each efficiency level
and the average annual operating
expenditures for each efficiency level.
The PBP calculation uses the same
inputs as the LCC analysis, except that
discount rates are not needed.
12. Rebuttable-Presumption Payback
Period
As noted above, EPCA, as amended,
establishes a rebuttable presumption
that a standard is economically justified
if the Secretary finds that the additional
cost to the consumer of purchasing a
product complying with an energy
conservation standard level will be less
than three times the value of the energy
(and, as applicable, water) savings
during the first year that the consumer
will receive as a result of the standard,
as calculated under the test procedure
in place for that standard. (42 U.S.C.
6295(o)(2)(B)(iii)) For each considered
efficiency level, DOE determined the
value of the first year’s energy savings
by calculating the quantity of those
savings in accordance with the
applicable DOE test procedure, and
multiplying that amount by the average
energy price forecast for the year in
which compliance with the amended
standard would be required.
G. National Impact Analysis—National
Energy Savings and Net Present Value
Analysis
The national impact analysis (NIA)
assesses the national energy savings
(NES) and the national net present value
(NPV) of total consumer costs and
savings that would be expected to result
from new or amended standards at
specific efficiency levels. (‘‘Consumer’’
in this context refers to consumers of
the product being regulated.) DOE
calculates the NES and NPV based on
projections of annual appliance
shipments, along with the annual
energy consumption and total installed
cost data from the energy use and LCC
analyses. For the present analysis, DOE
forecasted the energy savings, operating
cost savings, product costs, and NPV of
consumer benefits for products sold
from 2014 through 2043.
DOE evaluates the impacts of new and
amended standards by comparing basecase projections with standards-case
projections. The base-case projections
characterize energy use and consumer
costs for each product class in the
absence of new or amended energy
conservation standards. DOE compares
these projections with projections
characterizing the market for each
product class if DOE adopted new or
amended standards at specific energy
efficiency levels (i.e., the TSLs or
standards cases) for that class. For the
base case forecast, DOE considers
historical trends in efficiency and
various forces that are likely to affect the
mix of efficiencies over time. For the
standards cases, DOE also considers
how a given standard would likely
affect the market shares of efficiencies
greater than the standard.
To make the analysis more accessible
and transparent to all interested parties,
DOE uses an MS Excel spreadsheet
model to calculate the energy savings
and the national consumer costs and
savings from each TSL.31 The TSD and
other documentation that DOE provides
during the rulemaking help explain the
models and how to use them, and
interested parties can review DOE’s
analyses by changing various input
quantities within the spreadsheet. The
NIA spreadsheet model uses typical
values as inputs (as opposed to
probability distributions).
For the current analysis, the NIA used
projections of energy prices and housing
starts from the AEO2010 Reference case.
In addition, DOE analyzed scenarios
that used inputs from the AEO2010 Low
Economic Growth and High Economic
Growth cases. These cases have higher
and lower energy price trends compared
to the Reference case, as well as higher
and lower housing starts, which result
in higher and lower appliance
shipments to new homes. NIA results
based on these cases are presented in
appendix 10–A of the final rule TSD.
Table IV.6 summarizes the inputs and
key assumptions DOE used for the NIA
analysis contained in the overall NOPR
analysis and the changes to the analyses
for the final rule. Discussion of these
inputs and changes follows the table.
See chapter 10 of the final rule TSD for
further details.
TABLE IV.6—APPROACH AND DATA USED FOR NATIONAL ENERGY SAVINGS AND CONSUMER NET PRESENT VALUE
ANALYSES
Inputs
NOPR
Shipments ...........................................................
Annual shipments from shipments model,
using 2008 data to estimate the ratio of bottom-mount share to side-by-side share.
2014 .................................................................
Used a ‘‘roll-up + ENERGY STAR’’ scenario
to establish the distribution of efficiencies.
Used a ‘‘roll-up + ENERGY STAR’’ scenario
to establish the distribution of efficiencies.
Annual weighted-average values as a function
of SWEUF *.
Annual weighted-average values as a function
of SWEUF *.
Annual weighted-average values as a function
of the annual energy consumption per unit
and energy prices.
Annual values as a function of efficiency level
AEO2010 forecasts (to 2035) and extrapolation through 2043.
Varies yearly and is generated by DOE/EIA’s
NEMS.
Compliance Date of Standard ............................
Base-Case Forecasted Efficiencies ...................
Standards-Case Forecasted Efficiencies ...........
Annual Energy Consumption per Unit ................
Total Installed Cost per Unit ...............................
emcdonald on DSK5VPTVN1PROD with RULES3
Energy Cost per Unit ..........................................
Repair and Maintenance Cost per Unit ..............
Escalation of Energy Prices ...............................
Energy Site-to-Source Conversion Factor .........
31 MS Excel is the most widely used spreadsheet
calculation tool in the United States and there is
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Changes for the final rule
general familiarity with its basic features. Thus,
DOE’s use of MS Excel as the basis for the
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No change.
No change.
No change.
No change.
No change.
Applied a price trend to estimate future product prices.
No change.
No change.
No change.
No change.
spreadsheet models provides interested parties with
access to the models within a familiar context.
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57553
TABLE IV.6—APPROACH AND DATA USED FOR NATIONAL ENERGY SAVINGS AND CONSUMER NET PRESENT VALUE
ANALYSES—Continued
Inputs
NOPR
Changes for the final rule
Discount Rate .....................................................
Present Year ......................................................
Three and seven percent real .........................
Future expenses are discounted to 2010 ........
No change.
No change.
emcdonald on DSK5VPTVN1PROD with RULES3
* Shipments-Weighted Energy Use Factor.
1. Shipments
Forecasts of product shipments are
needed to calculate the national impacts
of standards on energy use, NPV, and
future manufacturer cash flows. DOE
develops shipment forecasts based on
an analysis of key market drivers for
each considered product. In DOE’s
shipments model, product shipments
are driven by new construction, stock
replacements, and other types of
purchases. The shipments models take
an accounting approach, tracking
market shares of each product class and
the vintage of units in the existing stock.
Stock accounting uses product
shipments as inputs to estimate the age
distribution of in-service product stocks
for all years. The age distribution of inservice product stocks is a key input to
calculations of both the NES and NPV,
because operating costs for any year
depend on the age distribution of the
stock. DOE also considers the impacts
on shipments from changes in product
purchase price and operating cost
associated with higher energy efficiency
levels.
In projecting shipments for
refrigeration products, DOE accounted
for installations in new homes and
replacement of failed equipment. In
addition, for standard-size refrigeratorfreezers, DOE estimated purchases
driven by the conversion of a first
refrigerator to a second refrigerator. It
also estimated purchases by existing
household consumers who enter the
market as new owners for standard-size
freezers.
In conducting the analysis for today’s
rule, DOE examined the historical
trends in the market shares of different
refrigerator-freezer configurations to
disaggregate the total shipments of
refrigerator-freezers into the three
considered refrigerator-freezer product
categories (top-mount, bottom-mount
and side-by-side configurations). The
market share of side-by-side refrigeratorfreezer models has grown significantly
during the past two decades. Bottomfreezer models historically had a small
market share, but that share has also
grown in recent years. However,
because DOE had insufficient data to
forecast long-term growth of this
product class, it made the assumption,
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based on past sales trends, that
consumer behavior related to bottommount models in the future would
mirror behavior regarding side-by-side
models. DOE developed a model to
forecast the combined bottom-mount
and side-by-side market shares
throughout the 30-year forecast period
(beginning in 2014), and assumed that
the ratio of bottom-mount share to sideby-side share would remain constant at
the 2008 level (the last year for which
DOE had disaggregated data).
To estimate the effects on product
shipments from increases in product
price projected to accompany amended
standards at higher efficiency levels,
DOE applied a price elasticity
parameter. It estimated this parameter
with a regression analysis that used
purchase price and efficiency data
specific to residential refrigerators,
clothes washers, and dishwashers over
the period 1980–2002. The estimated
‘‘relative price elasticity’’ incorporates
the impacts from purchase price,
operating cost, and household income,
and it also declines over time. DOE
estimated shipments in each standards
case using the relative price elasticity
along with the change in the relative
price between a standards case and the
base case. For details on the shipments
analysis, see chapter 9 of the final rule
TSD.
2. Forecasted Efficiency in the Base Case
and Standards Cases
A key component of the NIA is the
trend in energy efficiency forecasted for
the base case (without new or amended
standards) and each of the standards
cases. Section IV.X described how DOE
developed a base-case energy efficiency
distribution (which yields a shipmentweighted average efficiency) for each of
the considered product classes for the
first year of the forecast period. Based
on recent trends, DOE assumed no
improvement of energy efficiency in the
base case and held the base-case energy
efficiency distribution constant
throughout the forecast period.
To estimate efficiency trends in the
standards cases, DOE used a ‘‘roll-up’’
scenario in its standards rulemakings.
Under the ‘‘roll-up’’ scenario, DOE
assumes: (1) Product efficiencies in the
base case that do not meet the standard
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level under consideration would ‘‘rollup’’ to meet the new standard level; and
(2) product efficiencies above the
standard level under consideration
would not be affected.
For the NOPR, DOE refined its
forecast for the base case and each of the
standards cases using information
obtained from ENERGY STAR program
staff. To project the efficiency
distributions after 2014 for the base
case, DOE first considered the potential
for changes to the ENERGY STAR
qualification levels. DOE assumed that,
in the absence of a new standard, the
ENERGY STAR program would reexamine and possibly revise its
qualification levels regardless of the
market share in 2014. When setting a
minimum product efficiency level to
qualify for ENERGY STAR, one
important metric is that the average
payback period compared to the current
standard level should not exceed five
years. Using the payback period
calculation described in section IV.F,
DOE applied this criterion to all product
classes to evaluate the extent to which
the current ENERGY STAR efficiency
levels would be increased in the future.
DOE then estimated the market shares
for ENERGY STAR products in 2021
based on past experience in the market
for these products. Rather than make
long-term projections based on limited
information, DOE assumed there would
be no further change in market shares
between 2021 and the end of the
forecast period. DOE recognizes that
some change in shares is likely to occur
in reality. However, since DOE used the
same assumption in the standards cases,
the accuracy of the assumption makes
no difference to the analysis of energy
savings.
For the standards cases (also referred
to as candidate standard levels, or
CSLs), DOE used the same approach as
for the base case and assumed that in
the case of amended standards, the
ENERGY STAR program would reevaluate its qualifying levels for all
product classes using the five-year
payback period criterion. For each CSL,
DOE identified the maximum efficiency
level with a payback period of five years
or less. If that level was below the
current ENERGY STAR level, DOE
maintained the current ENERGY STAR
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level. At higher CSLs, there is no
efficiency level above the standard level
with a payback period of less than 5
years. DOE assumed that the ENERGY
STAR program would be suspended
with standards at higher CSLs on a
product-class specific basis. This result
is projected to occur for all product
classes at CSL 3 and above; for product
classes 9 (upright freezers with
automatic defrost) and 10 (chest freezers
and all other freezers except compact
freezers), it occurs at lower CSLs. The
market share estimates for ENERGY
STAR products in 2021 and beyond
were based on a similar approach as for
the base case.
DOE requested comment on its
approach for forecasting base case and
standards case efficiency distributions.
75 FR at 59518 (September 27, 2010).
Whirlpool stated it had no comment on
the approach (Whirlpool, No. 74 at p. 6),
and no other comments were received.
As a result, DOE retained its approach
for the final rule. For further details
about the forecasted efficiency
distributions, see chapter 10 of the final
rule TSD.
3. Installed Cost per Unit
In the NOPR analysis, DOE followed
its past practice and assumed that the
manufacturer costs and retail prices of
products meeting various efficiency
levels remain fixed, in real terms, after
2008 (the year for which the engineering
analysis estimated costs) and
throughout the period of the analysis.
As discussed in section IV.F.1, for the
final rule DOE used a price trend based
on an experience curve derived using
historical data on shipments and
refrigeration equipment PPI. DOE
applied the same price trend to forecast
prices for each group of refrigeration
products at each considered efficiency
level. The average projected annual rate
of price decline in the default case is
1.87 percent.
For the NIA, DOE also analyzed two
cases that use a price trend based on an
exponential in time extrapolation of
refrigeration equipment PPI data. DOE
selected a high projected price trend
decline case and a low projected price
trend decline case from among a
number of price trends that it analyzed
(see appendix 8E of the final rule TSD).
The high projected price trend decline
case is based on the upper end of the 95
percent confidence interval for an
exponential fit to the PPI series in 1991–
2010 divided by the relevant GDP
deflator data from those years. The low
projected price trend decline case is
based on the lower end of the 95 percent
confidence interval for an exponential
fit to the PPI series in 1976–2010 before
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dividing it by the relevant GDP deflator
data from those years. The annual rate
of projected price trend decline is 3.12
percent in the high projected price trend
decline case and 1.14 percent in the low
projected price trend decline case.
4. Site-to-Source Energy Conversion
For each year in the forecast period,
DOE calculates the NES for each
standard level by multiplying the stock
of equipment affected by the energy
conservation standards by the per-unit
annual energy savings.
To estimate the national energy
savings expected from appliance
standards, DOE uses a multiplicative
factor to convert site energy
consumption (at the home or
commercial building) into primary or
source energy consumption (the energy
required to convert and deliver the site
energy). These conversion factors
account for the energy used at power
plants to generate electricity and losses
in transmission and distribution, as well
as for natural gas losses from pipeline
leakage and energy used for pumping.
For electricity, the conversion factors
vary over time due to projected changes
in generation sources (i.e., the power
plant types projected to provide
electricity to the country). The factors
that DOE developed are marginal
values, which represent the response of
the system to an incremental decrease in
consumption associated with appliance
standards.
For the NOPR and today’s final rule,
DOE updated its annual site-to-source
conversion factors based on the version
of NEMS that corresponds to AEO2010,
which provides energy forecasts through
2035. For 2036–2043, DOE used
conversion factors that remain constant
at the 2035 values.
In response to a request from DOE’s
Office of Energy Efficiency and
Renewable Energy (EERE), the National
Academy of Sciences (NAS), appointed
a committee on ‘‘Point-of-Use and FullFuel-Cycle Measurement Approaches to
Energy Efficiency Standards’’ to conduct
a study required by section 1802 of the
Energy Policy Act of 2005 (Pub. L. 109–
58 (August 8, 2005)). The fundamental
task before the committee was to
evaluate the methodology used for
setting energy efficiency standards and
to comment on whether site (point-ofuse) or source (full-fuel-cycle) measures
of energy savings would better support
rulemaking efforts to achieve energy
conservation goals. The NAS committee
defined full-fuel-cycle energy
consumption as including, in addition
to site energy use, the following: energy
consumed in the extraction, processing,
and transport of primary fuels such as
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coal, oil, and natural gas; energy losses
in thermal combustion in power
generation plants; and energy losses in
transmission and distribution to homes
and commercial buildings.32
In evaluating the merits of using
point-of-use and full-fuel-cycle
measures, the NAS committee noted
that DOE uses what the committee
referred to as ‘‘extended site’’ energy
consumption to assess the impact of
energy use on the economy, energy
security, and environmental quality.
The extended site measure of energy
consumption includes the energy
consumed during the generation,
transmission, and distribution of
electricity but, unlike the full-fuel-cycle
measure, does not include the energy
consumed in extracting, processing, and
transporting primary fuels. A majority of
the NAS committee concluded that
extended site energy consumption
understates the total energy consumed
to make an appliance operational at the
site. As a result, the NAS committee
recommended that DOE consider
shifting its analytical approach over
time to use a full-fuel-cycle measure of
energy consumption when assessing
national and environmental impacts,
especially with respect to the
calculation of greenhouse gas emissions.
The NAS committee also recommended
that DOE provide more comprehensive
information to the public through labels
and other means, such as an enhanced
Web site. For those appliances that use
multiple fuels (e.g., water heaters), the
NAS committee indicated that
measuring full-fuel-cycle energy
consumption would provide a more
complete picture of energy consumed
and permit comparisons across many
different appliances, as well as an
improved assessment of impacts.
In response to the NAS
recommendations, DOE issued, on
August 20, 2010, (75 FR 51423), a
Notice of Proposed Policy proposing to
incorporate a full-fuel cycle analysis
into the methods it uses to estimate the
likely impacts of energy conservation
standards on energy use and emissions.
Specifically, DOE proposed to use fullfuel-cycle (FFC) measures of energy and
greenhouse gas (GHG) emissions, rather
than the primary (extended site) energy
measurement it currently uses.
Additionally, DOE proposed to work
collaboratively with the Federal Trade
Commission (FTC) to make FFC energy
32 The National Academies, Board on Energy and
Environmental Systems, Letter to Dr. John Mizroch,
Acting Assistant Secretary, U.S. DOE, Office of
EERE from James W. Dally, Chair, Committee on
Point-of-Use and Full-Fuel-Cycle Measurement
Approaches to Energy Efficiency Standards, May
15, 2009.
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and GHG emissions data available to the
public to enable consumers to make
cross-class comparisons. On October 7,
2010, DOE held an informal public
meeting to discuss and receive
comments on its planned approach. The
materials related to this proposed policy
are available at: https://
www.regulations.gov/search/Regs/
home.html#docketDetail?R=EERE-2010BT-NOA-0028. Following the close of
the public comment period, DOE
intends to develop a final policy
statement on these subjects and then
take steps to begin implementing that
policy in rulemakings and other
activities that are undertaken during
2011.
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5. Discount Rates
The inputs for determining the NPV
of the total costs and benefits
experienced by consumers of the
considered appliances are: (1) Total
annual installed cost, (2) total annual
savings in operating costs, and (3) a
discount factor. DOE calculates net
savings each year as the difference
between the base case and each
standards case in total savings in
operating costs and total increases in
installed costs. DOE calculates operating
cost savings over the life of each
product shipped in the forecast period.
DOE multiplies the net savings in
future years by a discount factor to
determine their present value. For
today’s final rule, DOE estimated the
NPV of appliance consumer benefits
using both a 3-percent and a 7-percent
real discount rate. DOE uses these
discount rates in accordance with
guidance provided by the Office of
Management and Budget (OMB) to
Federal agencies on the development of
regulatory analysis.33 The discount rates
for the determination of NPV are in
contrast to the discount rates used in the
LCC analysis, which are designed to
reflect a consumer’s perspective. The 7percent real value is an estimate of the
average before-tax rate of return to
private capital in the U.S. economy. The
3-percent real value represents the
‘‘societal rate of time preference,’’ which
is the rate at which society discounts
future consumption flows to their
present value.
6. Benefits From Effects of Standards on
Energy Prices
A decrease in electricity consumption
associated with amended standards for
refrigeration products could reduce the
electricity prices charged to consumers
33 OMB Circular A–4 (Sept. 17, 2003), section E,
‘‘Identifying and Measuring Benefits and Costs.
Available at: https://www.whitehouse.gov/omb/
memoranda/m03-21.html.
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in all sectors of the economy and
thereby reduce their electricity
expenditures. In chapter 2 of the
preliminary analysis TSD, DOE
explained that, because the power
industry is a complex mix of fuel and
equipment suppliers, electricity
producers and distributors, it did not
plan to estimate the value of potentially
reduced electricity costs for all
consumers associated with amended
standards for refrigeration products. In
response, the Northeast Energy
Efficiency Partnerships urged DOE to
quantify electricity demand reductions
achieved by these updated standards in
financial terms. (NEEP, No. 41 at p. 1)
For the NOPR and today’s final rule,
DOE used NEMS–BT to assess the
impacts of the reduced need for new
electric power plants and infrastructure
projected to result from standards. In
NEMS–BT, changes in power generation
infrastructure affect utility revenue
requirements, which in turn affect
electricity prices. DOE estimated the
impact on electricity prices associated
with each considered TSL. Although the
aggregate benefits for electricity users
are potentially large, there may be
negative effects on some of the actors
involved in the supply of electricity,
particularly power plant providers and
fuel suppliers. Because there is
uncertainty about the extent to which
the benefits for electricity users from
reduced electricity prices would be a
transfer from actors involved in
electricity supply to electricity
consumers, DOE has concluded that, at
present, because of this uncertainty, it
should not give a heavy weight to this
factor in its consideration of the
economic justification of new or
amended standards. DOE is continuing
to investigate the extent to which
electricity price changes projected to
result from standards represent a net
gain to society.
H. Consumer Subgroup Analysis
In analyzing the potential impact of
new or amended standards on
consumers, DOE evaluates the impact
on identifiable sub-groups of consumers
that may be disproportionately affected
by a national standard. DOE evaluates
impacts on particular sub-groups of
consumers primarily by analyzing the
LCC impacts and PBP for those
particular consumers from alternative
standard levels. For both the NOPR and
today’s final rule, DOE analyzed the
impacts of the considered standard
levels on low-income consumers and
senior citizens. DOE did not estimate
the impacts for compact refrigeration
products because the household sample
sizes were not large enough to yield
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meaningful results. For further details
on DOE’s consumer sub-group analysis,
see Chapter 11 in the final rule TSD.
I. Manufacturer Impact Analysis
DOE conducted the MIA to estimate
the financial impact of amended energy
conservation standards on
manufacturers of residential
refrigeration products, and to assess the
impacts of such standards on
employment and manufacturing
capacity.
The MIA is both a quantitative and
qualitative analysis. The quantitative
part of the MIA relies on the
Government Regulatory Impact Model
(GRIM), an industry cash-flow model
customized for the residential
refrigeration products covered in this
rulemaking. The key MIA output is
industry net present value (INPV). DOE
used the GRIM to calculate cash flows
using standard accounting principles
and to compare changes in INPV
between a base case and various TSLs
(the standards cases). The difference in
INPV between the base and standards
cases represents the financial impact of
the amended standard on
manufacturers. Different sets of
assumptions (scenarios) produce
different results. DOE reports the MIA
impacts of amended energy
conservation standards by grouping
together the impacts on manufacturers
of certain product classes. DOE presents
the industry impacts by the major
product types (i.e., standard size
refrigerator-freezers, standard size
freezers, compact refrigerators and
freezers, and built-in refrigeration
products). These product groupings
represent markets that are served by the
same manufacturers. By segmenting the
results into these product types, DOE is
able to discuss how these subgroups of
manufacturers will be impacted by
amended energy conservation
standards.
The qualitative part of the MIA
addresses factors such as product
characteristics, characteristics of
particular firms, and market trends. The
qualitative discussion also includes an
assessment of the impacts of standards
on subgroups of manufacturers. DOE
outlined its complete methodology for
the MIA in the NOPR. 75 FR at 59519–
59526 (September 27, 2010). The
complete MIA is presented in chapter
12 of the NOPR and final rule TSD.
1. Comments From Interested Parties
DOE received a number of comments
from interested parties in response to
the NOPR. Sub Zero commented that
while it is not a small business, it is a
small refrigerator manufacturer
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compared to its competition. It argued
that its smaller size places it at a
disadvantage compared to larger
competitors with respect to the supply
chain for compressors, which could
cause Sub Zero to experience supply
disruptions that would seriously impact
their business and ability to compete.
(Sub Zero, No. 69 at p. 3) Sub Zero
added that its cost and distribution
structures are different from the
majority of the industry, and its small
scale results in higher costs per unit
production, including engineering
related expenses. (Sub Zero, No. 69 at
p. 2) Sub Zero commented that the new
standards on smaller manufacturers in
any segment of the appliance industry
introduce costs and personnel
requirements that represent a larger
percentage of resources than those
required by larger competitors. (Sub
Zero, No. 69 at p. 3) Whirlpool simply
stated that it was not a small business
and offered no comment on the
proposal’s impact on small
manufacturers. (Whirlpool, No. 74 at
p. 6)
DOE agrees that a smaller
manufacturer could face all of the
additional challenges raised by Sub
Zero relative to a larger competitor. DOE
also notes that while many larger
refrigerator manufacturers also produce
built-in units and could experience
some benefits in the built-in market
from their overall scale, built-in
production volumes for any
manufacturer are likely to be much
lower for built-in products than freestanding products. While a smaller
manufacturer could face all the
challenges listed by Sub Zero, DOE
believes that the separate analysis and
presentation of results for built-in
products adequately addresses Sub
Zero’s concerns about the potential
impacts on built-in manufacturers. DOE
continues to believe that presenting the
built-in analysis results separately from
other categories is the most appropriate
way to analyze the lower production
volumes and different cost structure for
built-in manufacturing.
In the NOPR, DOE investigated
whether small business manufacturers
should be analyzed as a manufacturer
subgroup. 75 FR at 59520, 59548
(September 27, 2010). As part of this
effort, DOE identified one company that
manufactures products covered by this
rulemaking and qualifies as a small
business under the applicable Small
Business Administration (SBA)
definition.34 DOE did not analyze a
34 See https://www.sba.gov/idc/groups/public/
documents/sba_homepage/serv_sstd_tablepdf.pdf
for a list of SBA size standards.
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separate subgroup of small business
manufacturers in the NOPR because it
determined this rulemaking would not
have a significant economic impact on
a substantial number of small entities.
Id. at 59571–59572. DOE requested
comment on this determination and
sought any information concerning
small businesses that could be impacted
by this rulemaking as well as the nature
and extent of those potential impacts of
the proposed energy conservation
standards on small residential
refrigeration product manufacturers. Id.
at 59572 and 59575. DOE received no
information regarding these issues. DOE
received comments from Whirlpool and
Sub Zero that supported its initial
classification of the number of small
business manufacturers of residential
refrigeration products. (Whirlpool No.
74, at p. 6; Sub Zero, No. 69 at p. 3)
Therefore, the final rule continues to
refrain from treating small business
manufacturers as a manufacturer
subgroup but also maintains the
separate analysis and presentation of
results for built-in products.
Sub Zero also commented that the
proposed standards would have
implications for their company. At the
proposed built-in standard levels, it
asserted that the company will be
pressed to meet the necessary efficiency
levels, remain a viable business, and
achieve profitability. Sub Zero also
argued that the new standards could
also impact the number of products that
meet high visibility programs such as
ENERGY STAR and indicated that these
challenges are in addition to attempting
to recover from a difficult business
environment. Sub Zero added that
different regulations in other areas of
the world, notably Canada and Europe,
that involve more than energy and are
not harmonized with U.S. requirements,
pose significant challenges and noted
that this regulatory burden is the biggest
challenge for the future. (Sub Zero, No.
69 at p. 3) Sub Zero agreed that DOE’s
analysis presented in the NOPR
confirms that new standards will impact
built-in designs more stringently than
conventional free-standing products to
meet any given efficiency level. Sub
Zero stated it was also concerned that
built-ins be separated as distinct
product classes with different efficiency
levels from conventional product
classes, in order to continue to offer
consumers the utility they desire at
reasonable added costs. (Sub Zero, No.
69 at pp. 1–2)
DOE agrees that manufacturers such
as Sub Zero face challenges. For
example, because Sub Zero holds a large
market share of the premium, built-in
market, DOE expects that a significant
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portion of the $65 million in product
conversion costs and $55 million in
capital conversion costs calculated for
built-in product classes will be borne by
Sub Zero. However, DOE believes that
the INPV impacts calculated in the MIA
analyze the potential impacts on builtin manufacturers due to amended
energy conservation standards. This
adjustment, along with providing
separate product classes for built-in
products to help preserve the utility that
these products offer, will help mitigate
the potential adverse financial impact
that would result from this rule.
DOE also received a number of
comments about possible refrigerant and
blowing agent changes. Whirlpool, GE,
and AHAM all noted possible changes
to the regulatory landscape for the
refrigerants available in residential
refrigeration products. (Whirlpool, No.
74 at p. 4; GE, No. 76 at p. 2; AHAM,
No. 73 at pp. 7–8) Sub Zero also
highlighted the current uncertainty
about potential future regulation of HFC
refrigerants and blowing agents. It
suggested that the industry could
potentially be faced with enforced
conversion to other substances by 2014,
which would require significant
additional capital investment. (Sub
Zero, No. 69 at p. 4)
These comments are addressed above
in section 0. Because these comments
also relate to the cumulative regulatory
burden, DOE reiterates that it concluded
isobutane products may soon become
available. However, DOE did not
consider the switch to isobutane
refrigerant as a design option to reduce
energy use because sufficient
information regarding the energy
savings characteristics and the costs of
the new designs was not available. DOE
did not consider the possible capital
investment needed by conversions to
other substances by 2014 because DOE
believes that basing energy conservation
standards on the uncertain prospect of
pending regulations or legislation would
be speculative.
2. GRIM Key Inputs
The GRIM inputs are data
characterizing the industry cost
structure, investments, shipments, and
markups. DOE updates the MIA to
reflect changes in the outputs of two
other key DOE analyses that feed into
the GRIM: The engineering analysis and
the NIA. For the final rule, DOE did not
receive any relevant comments that
would necessitate such changes to the
engineering analysis. Similarly, DOE
did not receive comments from
interested parties that would change
assumptions or shipments in the NIA.
DOE did not request specific comment
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emcdonald on DSK5VPTVN1PROD with RULES3
on the inputs to the MIA in the NOPR
and is maintaining the same
methodology for the final rule.
For the final rule, DOE incorporated
trends in prices over time into the
analysis. These prices trends in every
year also impact the MIA results. DOE
used the same price trends in the NIA
from the base year of the analysis
through the end of the analysis period.
DOE also assumed that manufacturer
product costs (MPCs) and MSPs were
similarly impacted by the price trends
in both the base case and standards
cases. See section 0 for a description of
how DOE implemented price trends into
the analysis. The other major GRIM
assumptions and inputs that are not part
of the engineering analysis or NIA are
outlined below.
a. Product and Capital Conversion Costs
Amended energy conservation
standards will cause manufacturers to
incur one-time conversion costs to bring
their production facilities and product
designs into compliance. For the MIA,
DOE classified these one-time
conversion costs into two major groups:
(1) Product conversion costs and (2)
capital conversion costs. Product
conversion costs are one-time
investments in research, development,
testing, marketing, and other noncapitalized costs focused on making
product designs comply with the
amended energy conservation standard.
Capital conversion costs are one-time
investments in property, plant, and
equipment to adapt or change existing
production facilities so that new
product designs can be fabricated and
assembled.
DOE based its estimates of the
product conversion costs that would be
required to meet each TSL on
information obtained from manufacturer
interviews, the design pathways
analyzed in the engineering analysis,
and market information about the
number of platform and product
families for each manufacturer. DOE
based its capital conversion cost
estimates on manufacturer interviews
and assumptions from the engineering
analysis. 75 FR at 59521 (September 27,
2010). DOE’s estimates of the product
and capital conversion costs for all of
the refrigeration products addressed in
this rulemaking can be found in section
0, of today’s final rule and in chapter 12
of the final rule TSD.
b. Markup Scenarios
For the MIA, DOE modeled two
standards-case markup scenarios to
represent the uncertainty regarding the
potential impacts on prices and
profitability for manufacturers following
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the implementation of amended energy
conservation standards: (1) A flat
markup scenario, and (2) a preservation
of operation profit scenario. These
scenarios lead to different markup
values, which, when applied to the
inputted MPCs, result in varying
revenue and cash flow impacts.
The flat markup scenario assumes that
the cost of goods sold for each product
is marked up by a flat percentage to
cover standard SG&A expenses, R&D
expenses, and profit. This scenario
represents the upper bound of industry
profitability in the standards case
because manufacturers are able to fully
pass through to their customers the
additional costs due to compliance with
applicable standards. DOE also modeled
the preservation of operating profit
markup scenario. In this scenario, the
manufacturer markups are lowered such
that, in the standards case,
manufacturers are only able to maintain
the base-case total operating profit in
absolute dollars, despite higher product
costs and investment. DOE
implemented this scenario in GRIM by
lowering the manufacturer markups at
each TSL to yield approximately the
same earnings before interest and taxes
in the standards case in the year after
the compliance date of the amended
standards as in the base case. This
scenario represents the lower bound of
industry profitability following
amended energy conservation standards
because higher MPCs and the
investments required to comply with
the amended energy conservation
standard do not yield additional
operating profit. 75 FR at 59522
(September 27, 2010).
3. Manufacturer Interviews
DOE interviewed manufacturers
representing more than 95 percent of
standard-size refrigerator-freezer sales,
approximately 95 percent of standardsize freezer sales, about 75 percent of
compact refrigerator and freezer sales,
and more than 95 percent of built-in
refrigeration products. These interviews
were in addition to those DOE
conducted as part of the engineering
analysis. DOE outlined the key issues in
the rulemaking for manufacturers in the
NOPR. 75 FR at 59524–59526
(September 27, 2010).
J. Employment Impact Analysis
DOE considers employment impacts
in the domestic economy as one factor
in selecting an amended standard.
Employment impacts consist of direct
and indirect impacts. Direct
employment impacts are any changes in
the number of employees of
manufacturers of the appliance products
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57557
that are the subject of this rulemaking,
their suppliers, and related service
firms. Indirect employment impacts are
changes in national employment that
occur due to the shift in expenditures
and capital investment caused by the
purchase and operation of moreefficient appliances. The MIA addresses
the direct employment impacts that
concern manufacturers of refrigeration
products. The employment impact
analysis addresses the indirect
employment impacts.
Indirect employment impacts from
standards consist of the net jobs created
or eliminated in the national economy,
other than in the manufacturing sector
being regulated, due to: (1) Reduced
spending by end users on energy; (2)
reduced spending on new energy
supplies by the utility industry; (3)
increased spending on new products to
which the new standards apply; and (4)
the effects of those three factors
throughout the economy. DOE expects
the net monetary savings from standards
to be redirected to other forms of
economic activity. DOE also expects
these shifts in spending and economic
activity to affect the demand for labor in
the short term, as explained below.
One method for assessing the possible
effects on the demand for labor of such
shifts in economic activity is to compare
sectoral employment statistics
developed by the Labor Department’s
Bureau of Labor Statistics (BLS).35 The
BLS regularly publishes its estimates of
the number of jobs per million dollars
of economic activity in different sectors
of the economy, as well as the jobs
created elsewhere in the economy by
this same economic activity. Data from
BLS indicate that expenditures in the
utility sector generally create fewer jobs
(both directly and indirectly) than
expenditures in other sectors of the
economy. There are many reasons for
these differences, including wage
differences and the fact that the utility
sector is more capital intensive and less
labor intensive than other sectors.36
Energy conservation standards have
the effect of reducing consumer utility
bills. Because reduced consumer
expenditures for energy likely lead to
increased expenditures in other sectors
35 Data on industry employment, hours, labor
compensation, value of production, and the implicit
price deflator for output for these industries are
available upon request by calling the Division of
Industry Productivity Studies (202–691–5618) or by
sending a request by e-mail to dipsweb@bls.gov.
Available at: https://www.bls.gov/news.release/
prin1.nr0.htm.
36 See Bureau of Economic Analysis, Regional
Multipliers: A User Handbook for the Regional
Input-Output Modeling System (RIMS II).
Washington, DC. U.S. Department of Commerce,
1992.
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emcdonald on DSK5VPTVN1PROD with RULES3
of the economy, the general effect of
efficiency standards is to shift economic
activity from a less labor-intensive
sector (i.e., the utility sector) to more
labor-intensive sectors (e.g., the retail
and service sectors). Thus, based on the
BLS data alone, DOE believes net
national employment will increase due
to shifts in economic activity resulting
from amended standards for
refrigeration products.
For the standards considered in
today’s final rule, DOE estimated
indirect national employment impacts
using an input/output model of the U.S.
economy called Impact of Sector Energy
Technologies (ImSET). ImSET is a
spreadsheet model of the U.S. economy
that focuses on 187 sectors most
relevant to industrial, commercial, and
residential building energy use.37
ImSET is a special purpose version of
the ‘‘U.S. Benchmark National InputOutput’’ (I–O) model, which has been
designed to estimate the national
employment and income effects of
energy-saving technologies. The ImSET
software includes a computer-based I–O
model with structural coefficients to
characterize economic flows among the
187 sectors. ImSET’s national economic
I–O structure is based on a 2002 U.S.
benchmark table, specially aggregated to
the 187 sectors. DOE estimated changes
in expenditures using the NIA
spreadsheet. Using ImSET, DOE then
estimated the net national, indirect
employment impacts by sector of
potential amended efficiency standards
for refrigeration products.
For more details on the employment
impact analysis, see the final rule TSD,
chapter 13.
K. Utility Impact Analysis
The utility impact analysis estimates
several important effects on the utility
industry that would result from the
adoption of new or amended standards.
For both the NOPR final rule analyses,
DOE used the NEMS–BT model to
generate forecasts of electricity
consumption, electricity generation by
plant type, and electric generating
capacity by plant type, that would result
from each TSL. DOE obtained the
energy savings inputs associated with
efficiency improvements to considered
products from the NIA. DOE conducts
the utility impact analysis as a scenario
that departs from the latest AEO2010
Reference case. In other words, the
estimated impacts of an amended
37 J. M. Roop, M. J. Scott, and R. W. Schultz,
ImSET 3.1: Impact of Sector Energy Technologies,
PNNL–18412, Pacific Northwest National
Laboratory, 2009. Available at: https://www.pnl.gov/
main/publications/external/technical_reports/
PNNL-18412.pdf.
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standard are the differences between
values forecasted by NEMS–BT and the
values in the AEO2010 Reference case.
As part of the utility impact analysis,
DOE used NEMS–BT to assess the
impacts on electricity prices of the
reduced need for new electric power
plants and infrastructure projected to
result from the considered standards. In
NEMS–BT, changes in power generation
infrastructure affect utility revenue
requirements, which in turn affect
electricity prices. DOE estimated the
change in electricity prices projected to
result over time from each TSL.
Chapter 14 of the final rule TSD
presents more information on the utility
impact analysis.
L. Environmental Assessment
Pursuant to the National
Environmental Policy Act and the
requirements of 42 U.S.C.
6295(o)(2)(B)(i)(VI), DOE has prepared
an environmental assessment (EA) of
the impacts of the standards for
refrigeration products in today’s final
rule, which it has included as chapter
15 of the TSD. DOE found that the
environmental effects associated with
the standards for refrigeration products
were not significant. Therefore, DOE is
issuing a Finding of No Significant
Impact (FONSI), pursuant to NEPA, the
regulations of the Council on
Environmental Quality (40 CFR parts
1500–1508), and DOE’s regulations for
compliance with NEPA (10 CFR part
1021). The FONSI is available in the
docket for this rulemaking.
In the EA, DOE estimated the
reduction in power sector emissions of
CO2, NOX, and Hg using the NEMS–BT
computer model. In the EA, NEMS–BT
is run similarly to the AEO NEMS,
except that refrigeration product energy
use is reduced by the amount of energy
saved (by fuel type) due to each TSL.
The inputs of national energy savings
come from the NIA spreadsheet model,
while the output is the forecasted
physical emissions. The net benefit of
each TSL in today’s final rule is the
difference between the forecasted
emissions estimated by NEMS–BT at
each TSL and the AEO 2010 Reference
Case. NEMS–BT tracks CO2 emissions
using a detailed module that provides
results with broad coverage of all sectors
and inclusion of interactive effects.
DOE has determined that SO2
emissions from affected fossil fuel fired
combustion devices (also known as
Electric Generating Units (EGUs)) are
subject to nationwide and regional
emissions cap and trading programs that
create uncertainty about the standards’
impact on SO2 emissions. Title IV of the
Clean Air Act, 42 U.S.C. 7401–7671q,
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sets an annual emissions cap on SO2 for
affected EGUs in the 48 contiguous
states and the District of Columbia
(D.C.). SO2 emissions from 28 eastern
states and DC are also limited under the
Clean Air Interstate Rule (CAIR, 70 FR
25162 (May 12, 2005)), which created an
allowance-based trading program.
Although CAIR has been remanded to
EPA by the U.S. Court of Appeals for the
District of Columbia Circuit (D.C.
Circuit), see North Carolina v. EPA, 550
F.3d 1176 (D.C. Cir. 2008), it remains in
effect temporarily, consistent with the
D.C. Circuit’s earlier opinion in North
Carolina v. EPA, 531 F.3d 896 (D.C. Cir.
2008). On August 2, 2010, EPA issued
the Transport Rule proposal, a
replacement for CAIR, which would
limit emissions from EGUs in 32 states,
and may allow some amount of
interstate trading. 75 FR 45210. EPA
issued the final transport rule, entitled
the Cross-State Air Pollution Rule, on
July 6, 2011.38 See https://www.epa.gov/
crossstaterule/.
The attainment of emissions caps is
typically flexible among EGUs and is
enforced through the use of emissions
allowances and tradable permits. Under
existing EPA regulations, any excess
SO2 emissions allowances resulting
from the lower electricity demand
caused by the imposition of an
efficiency standard could be used to
permit offsetting increases in SO2
emissions by any regulated EGU.
However, if the standard resulted in a
permanent increase in the quantity of
unused emissions allowances, there
would be an overall reduction in SO2
emissions from the standards. While
there remains some uncertainty about
the ultimate effects of efficiency
standards on SO2 emissions covered by
the existing cap and trade system, the
NEMS–BT modeling system that DOE
uses to forecast emissions reductions
currently indicates that no physical
reductions in power sector emissions
would occur for SO2. Because the
Transport Rule has not been finalized,
there is no way to predict the effect of
this rulemaking on SO2 emissions after
the Transport Rule goes into effect.
A cap on NOX emissions, affecting
electric generating units in the CAIR
region, means that standards on
refrigeration products may have little or
no physical effect on NOX emissions in
the 28 eastern States and the District of
Columbia covered by CAIR. Again, as
noted above, because the Transport Rule
has not been finalized, there is no way
to predict the effect of this rulemaking
38 DOE notes that future iterations of the NEMS–
BT model will incorporate any changes necessitated
by issuance of the Cross-State Air Pollution Rule.
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1. Social Cost of Carbon
Under Executive Order 12866,
agencies must, to the extent permitted
by law, ‘‘assess both the costs and the
benefits of the intended regulation and,
recognizing that some costs and benefits
are difficult to quantify, propose or
adopt a regulation only upon a reasoned
determination that the benefits of the
intended regulation justify its costs.’’
The purpose of the SCC estimates
presented here is to allow agencies to
incorporate the monetized social
benefits of reducing CO2 emissions into
cost-benefit analyses of regulatory
actions that have small, or ‘‘marginal,’’
impacts on cumulative global emissions.
The estimates are presented with an
acknowledgement of the many
uncertainties involved and with a clear
understanding that they should be
updated over time to reflect increasing
knowledge of the science and
economics of climate impacts.
As part of the interagency process that
developed these SCC estimates,
technical experts from numerous
agencies met on a regular basis to
consider public comments, explore the
technical literature in relevant fields,
and discuss key model inputs and
assumptions. The main objective of this
process was to develop a range of SCC
values using a defensible set of input
assumptions grounded in the existing
scientific and economic literatures. In
this way, key uncertainties and model
differences transparently and
consistently inform the range of SCC
estimates used in the rulemaking
process.
M. Monetizing Carbon Dioxide and
Other Emissions Impacts
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on NOx emissions after the Transport
Rule goes into effect.
Today’s standards would, however,
reduce NOX emissions in those 22 States
not affected by the CAIR. As a result,
DOE used NEMS–BT to forecast
emission reductions from the standards
that are considered in today’s final rule.
Similar to emissions of SO2 and NOX,
future emissions of Hg would have been
subject to emissions caps. In May 2005,
EPA issued the Clean Air Mercury Rule
(CAMR). 70 FR 28606 (May 18, 2005).
CAMR would have permanently capped
emissions of mercury for new and
existing coal-fired power plants in all
States by 2010. However, on February 8,
2008, the DC Circuit issued a decision
in New Jersey v. Environmental
Protection Agency, in which it vacated
CAMR. 517 F.3d 574 (D.C. Cir. 2008).
EPA has decided to develop emissions
standards for power plants under the
Clean Air Act (Section 112), consistent
with the DC Circuit’s opinion on CAMR.
See https://www.epa.gov/air/
mercuryrule/pdfs/
certpetition_withdrawal.pdf. Pending
EPA’s forthcoming revisions to the rule,
DOE is excluding CAMR from its
Environmental Analysis. In the absence
of CAMR, a DOE standard would likely
reduce Hg emissions and DOE plans to
use NEMS–BT to estimate these
emission reductions. However, DOE
continues to review the impact of rules
that reduce energy consumption on Hg
emissions, and may revise its
assessment of Hg emission reductions in
future rulemakings.
a. Monetizing Carbon Dioxide Emissions
The SCC is an estimate of the
monetized damages associated with an
incremental increase in carbon
emissions in a given year. It is intended
to include (but is not limited to) changes
in net agricultural productivity, human
health, property damages from
increased flood risk, and the value of
ecosystem services. Estimates of the
social cost of carbon are provided in
dollars per metric ton of carbon dioxide.
When attempting to assess the
incremental economic impacts of carbon
dioxide emissions, the analyst faces a
number of serious challenges. A recent
report from the National Research
Council 39 points out that any
assessment will suffer from uncertainty,
speculation, and lack of information
about (1) Future emissions of
greenhouse gases, (2) the effects of past
As part of the development of this
final rule, DOE considered the estimated
monetary benefits likely to result from
the reduced emissions of CO2 and NOX
that are expected to result from each of
the TSLs considered. In order to make
this calculation similar to the
calculation of the NPV of consumer
benefit, DOE considered the reduced
emissions expected to result over the
lifetime of products shipped in the
forecast period for each TSL. This
section summarizes the basis for the
monetary values used for each of these
emissions and presents the benefits
estimates considered.
For today’s final rule, DOE is relying
on a set of values for the social cost of
carbon (SCC) that were developed by an
interagency process. A summary of the
basis for these new values is provided
below, and a more detailed description
of the methodologies used is provided
in appendix 16–A of the final rule TSD.
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39 National Research Council. Hidden Costs of
Energy: Unpriced Consequences of Energy
Production and Use. National Academies Press:
Washington, DC. 2009.
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57559
and future emissions on the climate
system, (3) the impact of changes in
climate on the physical and biological
environment, and (4) the translation of
these environmental impacts into
economic damages. As a result, any
effort to quantify and monetize the
harms associated with climate change
will raise serious questions of science,
economics, and ethics and should be
viewed as provisional.
Despite the serious limits of both
quantification and monetization, SCC
estimates can be useful in estimating the
social benefits of reducing carbon
dioxide emissions. Consistent with the
directive quoted above, the purpose of
the SCC estimates presented here is to
make it possible for agencies to
incorporate the social benefits from
reducing carbon dioxide emissions into
cost-benefit analyses of regulatory
actions that have small, or ‘‘marginal,’’
impacts on cumulative global emissions.
Most Federal regulatory actions can be
expected to have marginal impacts on
global emissions.
For such policies, the agency can
estimate the benefits from reduced (or
costs from increased) emissions in any
future year by multiplying the change in
emissions in that year by the SCC value
appropriate for that year. The net
present value of the benefits can then be
calculated by multiplying each of these
future benefits by an appropriate
discount factor and summing across all
affected years. This approach assumes
that the marginal damages from
increased emissions are constant for
small departures from the baseline
emissions path, an approximation that
is reasonable for policies that have
effects on emissions that are small
relative to cumulative global carbon
dioxide emissions. For policies that
have a large (non-marginal) impact on
global cumulative emissions, there is a
separate question of whether the SCC is
an appropriate tool for calculating the
benefits of reduced emissions. DOE does
not attempt to answer that question
here.
At the time of the preparation of the
notice, the most recent interagency
estimates of the potential global benefits
resulting from reduced CO2 emissions in
2010, expressed in 2009$, were $4.9,
$22.1, $36.3, and $67.1 per metric ton
avoided. For emission reductions that
occur in later years, these values grow
in real terms over time. Additionally,
the interagency group determined that a
range of values from 7 percent to 23
percent should be used to adjust the
global SCC to calculate domestic
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effects,40 although preference is given to
consideration of the global benefits of
reducing CO2 emissions.
It is important to emphasize that the
interagency process is committed to
updating these estimates as the science
and economic understanding of climate
change and its impacts on society
improves over time. Specifically, the
interagency group has set a preliminary
goal of revisiting the SCC values within
two years or at such time as
substantially updated models become
available, and to continue to support
research in this area. In the meantime,
the interagency group will continue to
explore the issues raised by this analysis
and consider public comments as part of
the ongoing interagency process.
b. Social Cost of Carbon Values Used in
Past Regulatory Analyses
To date, economic analyses for
Federal regulations have used a wide
range of values to estimate the benefits
associated with reducing carbon dioxide
emissions. In the final model year 2011
CAFE rule, the Department of
Transportation (DOT) used both a
‘‘domestic’’ SCC value of $2 per ton of
CO2 and a ‘‘global’’ SCC value of $33 per
ton of CO2 for 2007 emission reductions
(in 2007 dollars), increasing both values
at 2.4 percent per year.41 See Average
Fuel Economy Standards Passenger
Cars and Light Trucks Model Year 2011,
74 FR 14196 (March 30, 2009); Final
Environmental Impact Statement
Corporate Average Fuel Economy
Standards, Passenger Cars and Light
Trucks, Model Years 2011–2015 at 3–90
(Oct. 2008) (Available at: https://
www.nhtsa.gov/fuel-economy). It also
included a sensitivity analysis at $80
per ton of CO2. A domestic SCC value
is meant to reflect the value of damages
in the United States resulting from a
unit change in carbon dioxide
emissions, while a global SCC value is
meant to reflect the value of damages
worldwide.
A 2008 regulation proposed by DOT
assumed a domestic SCC value of $7 per
ton of CO2 (in 2006 dollars) for 2011
emission reductions (with a range of
$0–$14 for sensitivity analysis), also
increasing at 2.4 percent per year. See
Average Fuel Economy Standards,
Passenger Cars and Light Trucks, Model
Years 2011–2015, 73 FR 24352 (May 2,
2008); Draft Environmental Impact
Statement Corporate Average Fuel
40 It is recognized that this calculation for
domestic values is approximate, provisional, and
highly speculative. There is no a priori reason why
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Economy Standards, Passenger Cars and
Light Trucks, Model Years 2011–2015 at
3–58 (June 2008) (Available at: https://
www.nhtsa.gov/fuel-economy). A
regulation for packaged terminal air
conditioners and packaged terminal
heat pumps finalized by DOE in October
of 2008 used a domestic SCC range of
$0 to $20 per ton CO2 for 2007 emission
reductions (in 2007 dollars). 73 FR
58772, 58814 (Oct. 7, 2008) In addition,
EPA’s 2008 Advance Notice of Proposed
Rulemaking for Greenhouse Gases
identified what it described as ‘‘very
preliminary’’ SCC estimates subject to
revision. See Regulating Greenhouse
Gas Emissions Under the Clean Air Act,
73 FR 44354 (July 30, 2008). EPA’s
global mean values were $68 and $40
per ton CO2 for discount rates of
approximately 2 percent and 3 percent,
respectively (in 2006 dollars for 2007
emissions).
In 2009, an interagency process was
initiated to offer a preliminary
assessment of how best to quantify the
benefits from reducing carbon dioxide
emissions. To ensure consistency in
how benefits are evaluated across
agencies, the Administration sought to
develop a transparent and defensible
method, specifically designed for the
rulemaking process, to quantify avoided
climate change damages from reduced
CO2 emissions. The interagency group
did not undertake any original analysis.
Instead, it combined SCC estimates from
the existing literature to use as interim
values until a more comprehensive
analysis could be conducted. The
outcome of the preliminary assessment
by the interagency group was a set of
five interim values: Global SCC
estimates for 2007 (in 2006 dollars) of
$55, $33, $19, $10, and $5 per ton of
CO2.
These interim values represent the
first sustained interagency effort within
the U.S. government to develop an SCC
for use in regulatory analysis. The
results of this preliminary effort were
presented in several proposed and final
rules and were offered for public
comment in connection with proposed
rules, including the joint EPA–DOT fuel
economy and CO2 tailpipe emission
proposed rules. See CAFE Rule for
Passenger Cars and Light Trucks Draft
EIS and Final EIS, cited above.
domestic benefits should be a constant fraction of
net global damages over time.
41 Values per ton of CO given in this section refer
2
to metric tons.
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c. Current Approach and Key
Assumptions
Since the release of the interim
values, the interagency group
reconvened on a regular basis to
generate improved SCC estimates
considered for this amended rule.
Specifically, the group considered
public comments and further explored
the technical literature in relevant
fields.
The interagency group relied on three
integrated assessment models (IAMs)
commonly used to estimate the SCC:
The FUND, DICE, and PAGE models.42
These models are frequently cited in the
peer-reviewed literature and were used
in the last assessment of the
Intergovernmental Panel on Climate
Change. Each model was given equal
weight in the SCC values that were
developed.
Each model takes a slightly different
approach to model how changes in
emissions result in changes in economic
damages. A key objective of the
interagency process was to enable a
consistent exploration of the three
models while respecting the different
approaches to quantifying damages
taken by the key modelers in the field.
An extensive review of the literature
was conducted to select three sets of
input parameters for these models:
Climate sensitivity, socio-economic and
emissions trajectories, and discount
rates. A probability distribution for
climate sensitivity was specified as an
input into all three models. In addition,
the interagency group used a range of
scenarios for the socio-economic
parameters and a range of values for the
discount rate. All other model features
were left unchanged, relying on the
model developers’ best estimates and
judgments.
The interagency group selected four
SCC values for use in regulatory
analyses. Three values are based on the
average SCC from the three IAMs, at
discount rates of 2.5, 3, and 5 percent.
The fourth value, which represents the
95th percentile SCC estimate across all
three models at a 3 percent discount
rate, is included to represent higherthan-expected impacts from temperature
change further out in the tails of the
SCC distribution. For emissions (or
emission reductions) that occur in later
years, the SCC values grow in real terms
over time, as depicted in Table IV.7.
42 The models are described in appendix 16–A of
the final rule TSD.
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57561
TABLE IV.7—SCC VALUES FROM INTERAGENCY PROCESS, 2010–2050
[2007 Dollars per metric ton]
Discount rate
5% Avg
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2010
2015
2020
2025
2030
2035
2040
2045
2050
.................................................................................................
.................................................................................................
.................................................................................................
.................................................................................................
.................................................................................................
.................................................................................................
.................................................................................................
.................................................................................................
.................................................................................................
It is important to recognize that a
number of key uncertainties remain, and
that current SCC estimates should be
treated as provisional and revisable
since they will evolve with improved
scientific and economic understanding.
The interagency group also recognizes
that the existing models are imperfect
and incomplete. The National Research
Council report mentioned above points
out that there is tension between the
goal of producing quantified estimates
of the economic damages from an
incremental ton of carbon and the limits
of existing efforts to model these effects.
There are a number of concerns and
problems that should be addressed by
the research community, including
research programs housed in many of
the agencies participating in the
interagency process to estimate the SCC.
The U.S. Government intends to
periodically review and reconsider
estimates of the SCC used for costbenefit analyses to reflect increasing
knowledge of the science and
economics of climate impacts, as well as
improvements in modeling. In this
context, statements recognizing the
limitations of the analysis and calling
for further research take on exceptional
significance. The interagency group
offers the new SCC values with all due
humility about the uncertainties
embedded in them and with a sincere
promise to continue work to improve
them.
In summary, in considering the
potential global benefits resulting from
reduced CO2 emissions, DOE used the
most recent values identified by the
interagency process, adjusted to 2009$
using the GDP price deflator values for
2008 and 2009. For each of the four
cases specified, the values used for
emissions in 2010 were $4.9, $22.1,
$36.3, and $67.1 per metric ton avoided
(values expressed in 2009$). To
monetize the CO2 emissions reductions
expected to result from amended
standards for refrigeration products in
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3% Avg
4.7
5.7
6.8
8.2
9.7
11.2
12.7
14.2
15.7
2014–2043, DOE used the values
identified in Table A1 of the ‘‘Social
Cost of Carbon for Regulatory Impact
Analysis Under Executive Order
12866,’’ which is reprinted in appendix
15–A of the final rule TSD,
appropriately escalated to 2009$.43 To
calculate a present value of the stream
of monetary values, DOE discounted the
values in each of the four cases using
the specific discount rate that had been
used to obtain the SCC values in each
case.
2. Valuation of Other Emissions
Reductions
DOE investigated the potential
monetary benefit of reduced NOX
emissions from the TSLs it considered.
As noted above, new or amended energy
conservation standards would reduce
NOX emissions in those 22 States that
are not affected by the CAIR. DOE
estimated the monetized value of NOX
emissions reductions resulting from
each of the TSLs considered for today’s
NOPR based on environmental damage
estimates from the literature. Available
estimates suggest a very wide range of
monetary values, ranging from $370 per
ton to $3,800 per ton of NOX from
stationary sources, measured in 2001$
(equivalent to a range of $447 to $4,591
per ton in 2009$).44 In accordance with
OMB guidance, DOE conducted two
calculations of the monetary benefits
derived using each of the economic
values used for NOX, one using a real
discount rate of 3 percent and another
using a real discount rate of 7 percent.45
43 Table A1 presents SCC values through 2050.
For DOE’s calculation, it derived values after 2050
using the 3-percent per year escalation rate used by
the interagency group.
44 For additional information, refer to U.S. Office
of Management and Budget, Office of Information
and Regulatory Affairs, ‘‘2006 Report to Congress on
the Costs and Benefits of Federal Regulations and
Unfunded Mandates on State, Local, and Tribal
Entities,’’ Washington, DC.
45 OMB, Circular A–4: Regulatory Analysis (Sept.
17, 2003).
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2.5% Avg
21.4
23.8
26.3
29.6
32.8
36.0
39.2
42.1
44.9
35.1
38.4
41.7
45.9
50.0
54.2
58.4
61.7
65.0
3% 95th
64.9
72.8
80.7
90.4
100.0
109.7
119.3
127.8
136.2
DOE is aware of multiple agency
efforts to determine the appropriate
range of values used in evaluating the
potential economic benefits of reduced
Hg emissions. DOE has decided to await
further guidance regarding consistent
valuation and reporting of Hg emissions
before it once again monetizes Hg in its
rulemakings.
V. Discussion of Other Comments
The following section discusses
comments received by DOE related to
other issues. In general, these issues
involved subjects that generally fell
outside of the framework described in
detail above.
A. Demand Response
This section discusses comments
received regarding demand response or
smart grid controls. These are controls
that can react to signals from utilities or
other external organizations and alter
the product’s operation. This capability
might be used to allow utilities to
reduce energy use during peak demand
hours by reducing the power input of
many connected appliances.
DOE received comments on this topic
during the preliminary analysis phase
from LG, the U.S. Navy, and the IOUs.
(LG, No. 44 at p. 5; USN, No. 35 at p.
2; IOUs, No. 39 at p. 13). DOE explained
in the NOPR that it did not consider a
demand response feature, in part
because of the uncertainty of overall
benefits and the limitations of the legal
framework under which DOE would be
able to pursue such a design
requirement approach. 75 FR at 59530
(September 27, 2010).
AHAM disagreed with DOE’s
conclusion that demand response would
not contribute significantly to energy
use. (AHAM, No. 73 at p. 9) However,
AHAM’s comments did not provide any
information quantifying the potential
energy savings associated with
implementation of demand response in
refrigeration products. The highlighted
conclusions of the Electric Power
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Research Institute study cited by AHAM
do not even explicitly indicate that
refrigeration product demand response
contributed to energy savings. (Id.)
AHAM further indicates that demand
response applied to appliances
including refrigeration products would
help to enable use of renewable energy
sources. (AHAM, No. 73 at pp. 9–10)
DOE notes that this rulemaking
involves the amending of an energy
conservation standard for refrigeration
products. The term ‘‘energy
conservation standard’’ is defined as
either a performance standard that
prescribes a minimum level of energy
efficiency or maximum amount of
energy use or a design standard for
certain specified products. As DOE
stated previously, creating a design
standard as an energy conservation
standard is limited to specific
enumerated consumer products under
42 U.S.C. 6291(6). See 75 FR at 59530
(September 27, 2010). Since setting a
demand response feature requirement
would be the same as setting a design
standard, DOE must look to those
products for which it has the authority
to set design standards. As DOE also
pointed out, refrigeration products are
not within this list. Commenters made
no effort to challenge the validity of this
view, citing instead to policy-related
initiatives that highlighted the potential
benefits associated with smart grid
approaches. While the issues cited by
commenters are clearly important
issues, they do not obviate the
requirement that DOE act within the
boundaries of its authority within the
context of this rulemaking. Accordingly,
DOE did not incorporate a demand
response feature requirement as part of
today’s final rule.46
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B. Energy Standard Round-Off
The NOPR discussed the adoption of
a round-off when reporting energy test
results. This approach, explained in
greater detail in the test procedure
NOPR, would require manufacturers to
report the measured energy
consumption to the nearest kWh/year
based on consideration of achievable
measurement accuracy. 75 FR at 29849
(May 27, 2010). The energy standard
NOPR explained that similar round-off
was necessary to avoid meaningless
indications of non-compliance. DOE
also requested comment on the
implementation of energy standard
round-off. 75 FR at 59570 (September
27, 2010).
46 The inclusion of a demand response feature
within these products would also require
considerable analysis for which DOE has no data.
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AHAM supported using a round-off
when calculating the energy standard
using the energy standard equations for
refrigeration products. (AHAM, Public
Meeting Transcript, No. 67 at p. 94;
AHAM, No. 73 at p. 10) Whirlpool
concurred with this approach.
(Whirlpool, No. 74 at p. 6) No
commenter objected to the round-off
approach.
DOE has implemented the energy use
round-off approach as part of the test
procedure final rule. As a result,
manufacturers must follow this
approach when reporting the energy
consumption of its refrigeration
products. The test procedure rule
includes a round-off for the calculation
of the energy standard when using the
appropriate energy standard equations.
See 75 FR at 78831–78832 (December
16, 2010).
C. Trial Standard Levels and Proposed
Standards
1. Efficiency Levels
Many stakeholders supported DOE’s
selection of efficiency levels that
mirrored the levels of the negotiated
agreement. (AHAM, No. 73 at p. 1;
IOUs, No. 77 at p. 1; PGEC, No. 68 at
p. 1; JAC, No. 75 at p. 1) Sub Zero
supported the selection of efficiency
levels for built-ins that mirrored the
negotiated agreement while indicating
that the analyses suggest that less
stringent levels would also have been
appropriate. (Sub Zero, No. 69 at p. 5)
Whirlpool supported the selection of
efficiency levels for built-in products,
subject to DOE’s adoption of the builtin product definition developed for the
consensus agreement. (Whirlpool, No.
74 at p. 6)
However, concerns about the
negotiated levels for numerous products
were expressed by other stakeholders,
primarily utilities and organizations
representing utilities. EEI and APPA
expressed concern about the standard
levels chosen for bottom-mount
refrigerator-freezers, built-in bottommount refrigerator-freezers, and
compact refrigerators and did not
endorse the standard levels chosen for
top-mount refrigerator-freezers, side-byside refrigerator-freezers, built-in allrefrigerators, built-in side-by-side
refrigerators, and built-in upright
freezers. (EEI, No. 71 at pp. 3–4; APPA,
No. 72 at pp. 2–3) SC expressed concern
about selection of any standard levels
above the levels of reasonable life cycle
costs . (SC, No. 70 at p. 2) These
concerns are based on (1) the percentage
of consumers determined to experience
life cycle cost benefits being uncertain
or too high, and (2) the implication that
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DOE used the social cost of carbon
dioxide emissions combined with
consumer economics to justify the
chosen standard levels. (EEI, No. 71 at
p. 2; APPA, No. 72 at pp. 1–2; SC, No.
70 at p. 2) Moreover, SC argued that
replacement of an older refrigerator with
one meeting the current 2001 standard
would save 23 times more energy. (SC,
No. 70 at p. 2)
Responding to the concern about the
percentage of consumers determined to
experience a net life cycle cost, DOE
must consider a range of factors in
setting efficiency levels (see section
II.A), and for almost all product classes,
the net savings per consumer is positive.
Regarding the implication that DOE
used the societal cost of carbon dioxide
emissions to help justify the chosen
standard levels, DOE did not, in fact,
combine the societal cost of carbon with
consumer economics in any of its
calculations, but rather considered the
positive benefit of reducing the societal
cost of carbon, as part of a general
assessment of environmental benefits, in
making its final determination.
Environmental benefits are an important
rationale for national energy
conservation, especially because the
energy prices paid by consumers do not
include some of the environmental costs
associated with their use of energy.
Energy savings from energy
conservation standards often result in
environmental benefits in the form of
reduced emissions of air pollutants and
greenhouse gases associated with energy
production. DOE analyzed the
environmental effects from the amended
standards for refrigeration products, and
from each TSL it considered, in the
environmental assessment, which is
described in section IV.L of this notice
and in chapter 15 of the TSD. As a
companion to the quantitative analysis
in the environmental assessment, DOE
also estimated a range of the economic
value of emissions reductions resulting
from the considered TSLs, as described
in section IV.M of this notice.
With respect to the replacement of old
refrigerators in lieu of a more stringent
standard, this case was considered as an
alternative regulatory policy in chapter
16 of the TSD. DOE found that the
impact of such a policy would be, in all
cases, much less effective than a new
standard.
The PRC commented that the
maximum energy use of the proposed
standards was lower than the current
ENERGY STAR levels for product
classes 8, 9, 10, 10A, and 13A, suggested
that the current ENERGY STAR levels
reflect current advanced technologies
and achieve the purpose of ‘‘protection
of the environment and consumers’’,
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and recommended that the maximum
allowable energy use be no lower than
the current ENERGY STAR levels. (PRC,
No. 87 at p. 3) In response, DOE first
notes that ENERGY STAR is a voluntary
program. As such, manufacturers do not
need to meet these levels unless they
wish to produce ENERGY STARqualified products. Second, DOE is
required by EPCA to consider all
feasible technology levels, regardless of
whether they represent less energy use
than current ENERGY STAR levels, and
to set a standard at the most efficient
and feasible level that is economically
justified. (42 U.S.C. 6295(o)(2)(A))
Accordingly, the non-mandatory nature
of ENERGY STAR, coupled with the
mandatory nature of EPCA’s statutory
requirement to promulgate new
standards cut in favor of today’s action.
The PRC also commented that the
standard levels proposed for product
classes 5A, 6, 7, and 7–BI were not very
stringent, being very close to their
current standard levels expressed in
kWh/year, even though the ENERGY
STAR efficiency level has been set at a
level representing 20 percent less energy
consumption. The PRC provided an
example of a product class 7 product
with 500 liter adjusted volume, for
which the proposed energy standard is
581.1 kWh/year, while the current
standard is only slightly higher at 283.7
kWh/year. (PRC, No. 87 at p. 4) DOE
believes that the PRC’s 283.7 kWh/year
value is in error and should have been
583.7 kWh/year. DOE notes that these
values cannot be directly compared,
because the new energy standard is
based on the new test procedure, for
which both measured energy use and
the calculated adjusted volume are
altered.
SMUD made two comments regarding
the selection of standard levels. First,
SMUD noted that DOE indicated that it
was considering either increasing or
decreasing the stringency of the
proposed levels based on stakeholder
comments. It recommended that DOE
not consider any decreased stringency.
(SMUD, No. 88 at pp. 1, 2) DOE has not
altered the standards from those
proposed in the NOPR. Second, SMUD
noted that the NOPR stated that
products of the efficiency levels of the
proposed standards are already
commercially available for some, if not
most, of the product classes. (See 75 FR
at 59474 (September 27, 2010)) SMUD
recommended moving the standards to
efficiency levels more stringent than
those of commercially available
products, since these higher levels
should be viable. (Id. at p. 2) As
described above, DOE is required by
EPCA to consider all feasible technology
levels and that it must set the standard
at the most efficient of these feasible
levels that is economically justified. (42
U.S.C. 6295(o)(2)(A)) The commercial
availability of products at a specific
efficiency level, alone, is not sufficient
justification for setting the standard at a
more stringent efficiency level, since the
more stringent level may not be
economically justified.
2. Maximum Energy Use Equations
Several stakeholders indicated that
they could not comment on the specific
values represented by the maximum
energy use equations because they did
not have sufficient time after the
issuance of the test procedure final/
interim final rule to conduct tests to
evaluate the equation levels. (AHAM,
No. 73 at pp. 1–2 ; Whirlpool, No. 74
at p. ; GE, No. 76 at pp. 1–2) This is
discussed in greater detail in section 0.
VI. Analytical Results
The following section addresses the
results from DOE’s analyses with
respect to potential energy efficiency
standards for the various product
classes examined as part of this
rulemaking. Issues discussed include
57563
the trial standard levels examined by
DOE, the projected impacts of each of
these levels if adopted as energy
efficiency standards for refrigeration
products, and the standards levels that
DOE is adopting in today’s final rule.
Additional details regarding the
analyses conducted by the agency are
contained in the publicly available TSD
supporting this rulemaking.
A. Trial Standard Levels
DOE analyzed the benefits and
burdens of a number of TSLs for the
refrigeration products that are the
subject of today’s final rule. A
description of each TSL DOE analyzed
is provided below. DOE attempted to
limit the number of TSLs considered for
today’s final rule by excluding
efficiency levels that do not exhibit
significantly different economic and/or
engineering characteristics from the
efficiency levels already selected as a
TSL. While DOE only presents the
results for those efficiency levels in TSL
combinations in today’s final rule, DOE
presents the results for all efficiency
levels that it analyzed in the final rule
TSD.
Table VI.1 presents the TSLs and the
corresponding product class efficiencies
for standard-size refrigerator-freezers.
TSL 1 consists of those efficiency levels
that meet current ENERGY STAR
criteria. TSL 2 consists of incrementally
higher efficiency levels than the
preceding TSL. TSL 3 consists of the
highest efficiency levels for which the
consumer NPV is positive, using a 7percent discount rate, as well as the
levels recommended in the Joint
Comments. TSL 4 consists of those
efficiency levels that yield energy use 30
percent below the baseline products, as
well as the highest efficiency levels for
which the consumer NPV is positive,
using a 3-percent discount rate. TSL 5
consists of the max-tech efficiency
levels.
TABLE VI.1—TRIAL STANDARD LEVELS FOR STANDARD-SIZE REFRIGERATOR-FREEZERS
Efficiency level (% less than baseline energy use)
Top-mount
refrigerator-freezers and allrefrigerators
emcdonald on DSK5VPTVN1PROD with RULES3
1
2
3
4
5
.......................................................................................................................................
.......................................................................................................................................
.......................................................................................................................................
.......................................................................................................................................
.......................................................................................................................................
Bottom-mount
refrigeratorfreezers
Side-by-side
refrigeratorfreezers
Product classes
1, 1A, 2, 3, 3A,
3I and 6
Trial standard level
Product classes
5, 5A, and 5I
Product classes
4, 4I, and 7
3 (20)
3(20)
* 4 (25)
5 (30)
6 (36)
3
3
3
5
6
* Level for product classes 1, 1A, and 2 is 20%.
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(20)
(20)
(30)
(36)
3
4
4
5
6
(20)
(25)
(25)
(30)
(33)
57564
Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
Table VI.2 presents the TSLs and the
corresponding product class efficiencies
for standard-size freezers. TSL 1
consists of those efficiency levels that
yield energy use 20 percent below the
baseline products. TSL 2 consists of the
levels recommended in the Joint
Comments. TSL 3 consists of
incrementally higher efficiency levels
than the preceding TSL. TSL 4 consists
of incrementally higher efficiency levels
than the preceding TSL. TSL 5 consists
of the max-tech efficiency levels, which
are also the highest efficiency levels for
which the consumer NPV is positive,
using both a 3-percent and a 7-percent
discount rate.
TABLE VI.2—TRIAL STANDARD LEVELS FOR STANDARD-SIZE FREEZERS
Efficiency level (% less than baseline energy use)
Upright freezers
Trial standard level
Product classes
9 and 9I
1
2
3
4
5
.......................................................................................................................................
.......................................................................................................................................
.......................................................................................................................................
.......................................................................................................................................
.......................................................................................................................................
3
5
6
7
8
Chest freezers
Product class 8
(20)
(30)
(35)
(40)
(44)
3
4
5
6
7
Product classes
10 and 10A
(20)
(25)
(30)
(35)
(41)
3
*4
5
6
7
(20)
(25)
(30)
(35)
(41)
* Level for product class 10A is 30%.
Table VI.3 presents the TSLs and the
corresponding product class efficiencies
for compact refrigeration products. TSL
1 consists of efficiency levels that meet
current ENERGY STAR criteria for some
compact refrigerators (product classes
11, 11A, and 12), and efficiency levels
that are 10 percent below the baseline
energy use for other compact
refrigerators (product classes 13, 13I,
13A, 14, 14I, 15 and 15I) and compact
freezers (product classes 16, 17, and 18).
TSL 2 consists of the levels
recommended in the Joint Comments.
TSL 3 consists of incrementally higher
efficiency levels than the previous TSL.
TSL 4 consists of the highest efficiency
levels for which the consumer NPV is
positive, using both a 3-percent and a 7percent discount rate. TSL 5 consists of
the max-tech efficiency levels.
TABLE VI.3—TRIAL STANDARD LEVELS FOR COMPACT REFRIGERATION PRODUCTS
Efficiency level (% less than baseline energy use)
Compact refrigerators and
refrigerator-freezers
Trial standard level
Product classes
11, 11A, 12
1
2
3
4
5
.......................................................................................................................................
.......................................................................................................................................
.......................................................................................................................................
.......................................................................................................................................
.......................................................................................................................................
3
4
5
7
10
Compact
freezers
Product classes
13, 13I, 13A, 14,
14I, 15, 15I
(20)
(25)
(30)
(40)
(59)
1
*2
2
4
7
Product classes
16, 17, 18
(10)
(15)
(15)
(25)
(42)
1
1
2
4
7
(10)
(10)
(15)
(25)
(42)
* Level for product class 13A is 25 percent, and for product classes 14 and 14I is 20 percent.
Table VI.4 presents the TSLs and the
corresponding product class efficiencies
for built-in refrigeration products. TSL 1
consists of the efficiency levels that are
10 percent better than the current
standard. TSL 2 consists of the highest
efficiency levels for which the consumer
NPV is positive, using both a 3-percent
and a 7-percent discount rate. TSL 3
consists of the levels recommended in
the Joint Comments. TSL 4 consists of
incrementally higher efficiency levels
than TSL 3. TSL 5 consists of the maxtech efficiency levels.
TABLE VI.4—TRIAL STANDARD LEVELS FOR BUILT-IN REFRIGERATION PRODUCTS
Efficiency level (% less than baseline energy use)
Built-in
top-mount
refrigerator-freezers and
all-refrigerators
emcdonald on DSK5VPTVN1PROD with RULES3
1
2
3
4
Built-in
side-by-side
refrigeratorfreezers
Built-in upright
freezers
Product classes
3–BI, 3I–BI, and
3A–BI
Trial standard level
Built-in
bottom-mount
refrigeratorfreezers
Product classes
5–BI, 5I–BI, and
5A–BI
Product classes
4–BI, 4I–BI and
7–BI
Product classes
9–BI and 9I–BI
.......................................................................................................
.......................................................................................................
.......................................................................................................
.......................................................................................................
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57565
TABLE VI.4—TRIAL STANDARD LEVELS FOR BUILT-IN REFRIGERATION PRODUCTS—Continued
Efficiency level (% less than baseline energy use)
Built-in
top-mount
refrigerator-freezers and
all-refrigerators
Built-in
side-by-side
refrigeratorfreezers
Built-in upright
freezers
Product classes
3–BI, 3I–BI, and
3A–BI
Trial standard level
Built-in
bottom-mount
refrigeratorfreezers
Product classes
5–BI, 5I–BI, and
5A–BI
Product classes
4–BI, 4I–BI and
7–BI
Product classes
9–BI and 9I–BI
5 (29)
5 (27)
4 (22)
5 (27)
5 .......................................................................................................
B. Economic Justification and Energy
Savings
1. Economic Impacts on Individual
Consumers
a. Life-Cycle Cost and Payback Period
Consumers affected by new or
amended standards usually experience
higher purchase prices and lower
operating costs. DOE evaluates these
impacts on individual consumers by
calculating changes in LCC and the PBP
associated with potential standard
levels. Using the approach described in
section IV.F, DOE calculated the LCC
impacts and PBPs for the efficiency
levels considered in this rulemaking.
For each representative product class,
DOE’s analysis provided several outputs
for each TSL, which are reported in
Table VI.5 through Table VI.15. Each
table includes the average total LCC and
the average LCC savings, as well as the
fraction of product consumers for which
the LCC will either decrease (net
benefit), increase (net cost), or exhibit
no change (no impact) relative to the
product purchased in the base case. The
last output in the tables is the median
PBP for the consumer purchasing a
design that complies with a given TSL.
The results for each TSL are relative to
the energy efficiency distribution in the
base case (no amended standards). DOE
based the LCC and PBP analyses on
energy consumption under conditions
of actual product use, whereas it based
the rebuttable presumption PBPs on
energy consumption under conditions
prescribed by the DOE test procedure, as
required by EPCA. (42 U.S.C.
6295(o)(2)(B)(iii))
TABLE VI.5—PRODUCT CLASS 3, TOP-MOUNT REFRIGERATOR-FREEZERS: LCC AND PBP RESULTS
Efficiency level
(% less than
baseline
energy use)
Trial standard
level
1, 2 ..................
3 ......................
4 ......................
5 ......................
Life-cycle cost 2009$
Installed
cost
Baseline ..........
1 (10) ..............
2 (15) ..............
3 (20) ..............
4 (25) ..............
5 (30) ..............
6 (36) ..............
Discounted
operating
cost
$491
501
508
564
602
686
806
Life-cycle cost savings
Average
savings
2009$
LCC
$787
730
701
671
634
598
560
$1,278
1,231
1,209
1,235
1,236
1,284
1,365
% of households that experience
Payback
period
(years)
Net cost
No impact
Net benefit
Median
..................
46
69
44
42
¥6
¥87
....................
0.28
0.60
34.0
45.7
65.1
79.7
....................
21.9
17.6
8.31
0.0
0.0
0.0
..................
77.8
81.8
57.7
54.3
34.9
20.3
..................
2.3
2.6
8.0
9.5
13.3
17.8
TABLE VI.6—PRODUCT CLASS 5, BOTTOM-MOUNT REFRIGERATOR-FREEZERS: LCC AND PBP RESULTS
Efficiency level
(% less than
baseline
energy use)
Trial standard
level
1, 2, 3 ..............
emcdonald on DSK5VPTVN1PROD with RULES3
4 ......................
5 ......................
Life-cycle cost 2009$
Installed
cost
Baseline ..........
1 (10) ..............
2 (15) ..............
3 (20) ..............
4 (25) ..............
5 (30) ..............
6 (36) ..............
Discounted
operating
cost
$858
860
861
867
926
1,023
1,157
Life-cycle cost savings
Average
savings
2009$
LCC
$970
961
956
943
901
862
810
$1,828
1,820
1,817
1,809
1,827
1,885
1,968
% of households that experience
Payback
period
(years)
Net cost
No impact
Net benefit
Median
..................
9
14
22
5
¥53
¥136
....................
0.02
0.05
2.53
67.9
82.8
89.0
....................
86.9
86.9
67.8
0.03
0.03
0.00
..................
13.1
13.1
29.7
32.0
17.2
11.1
..................
2.1
2.3
4.2
14.9
21.0
24.7
TABLE VI.7—PRODUCT CLASS 7, SIDE-BY-SIDE REFRIGERATOR-FREEZERS WITH THROUGH-THE-DOOR ICE SERVICE: LCC
AND PBP RESULTS
Trial standard
level
Efficiency level
(% less than
baseline
energy use)
Baseline ..........
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Installed
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Discounted
operating
cost
$1,040
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Life-cycle cost savings
Average
savings
2009$
LCC
$2,292
Fmt 4701
Net cost
No impact
Net benefit
Median
..................
....................
....................
..................
..................
Sfmt 4700
% of households that experience
Payback
period
(years)
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
TABLE VI.7—PRODUCT CLASS 7, SIDE-BY-SIDE REFRIGERATOR-FREEZERS WITH THROUGH-THE-DOOR ICE SERVICE: LCC
AND PBP RESULTS—Continued
Efficiency level
(% less than
baseline
energy use)
Trial standard
level
1 ......................
2, 3 ..................
4 ......................
5 ......................
1
2
3
4
5
6
(10)
(15)
(20)
(25)
(30)
(33)
Life-cycle cost 2009$
Installed
cost
..............
..............
..............
..............
..............
..............
Discounted
operating
cost
1,043
1,048
1,064
1,123
1,251
1,351
Life-cycle cost savings
Average
savings
2009$
LCC
1,228
1,202
1,167
1,114
1,061
1,026
2,271
2,249
2,232
2,237
2,312
2,377
22
44
62
57
¥18
¥83
% of households that experience
Net cost
0.00
0.06
4.27
41.5
69.7
79.5
No impact
Net benefit
78.1
51.7
36.9
0.00
0.00
0.00
21.9
48.3
58.8
58.6
30.3
20.5
Payback
period
(years)
Median
1.3
2.1
4.0
9.2
15.6
19.1
TABLE VI.8—PRODUCT CLASS 9, UPRIGHT FREEZERS: LCC AND PBP RESULTS
Efficiency level
(% less than
baseline
energy use)
Trial standard
level
1 ......................
2
3
4
5
......................
......................
......................
......................
Life-cycle cost 2009$
Installed
cost
Baseline ..........
1 (10) ..............
2 (15) ..............
3 (20) ..............
4 (25) ..............
5 (30) ..............
6 (35) ..............
7 (40) ..............
8 (44) ..............
Discounted
operating
cost
$505
516
535
552
578
602
656
731
898
Life-cycle cost savings
Average
savings
2009$
LCC
$1,098
1,015
964
912
859
806
758
711
673
$1,603
1,530
1,499
1,464
1,437
1,408
1,414
1,442
1,570
% of households that experience
Payback
Period
(years)
Net cost
No impact
Net benefit
Median
..................
73
105
140
166
195
189
161
33
....................
0.25
5.02
6.03
9.58
11.5
21.9
34.6
59.7
....................
19.9
1.67
0.59
0.41
0.22
0.00
0.00
0.00
..................
79.9
93.3
93.4
90.0
88.2
78.1
65.4
40.3
..................
1.9
3.6
4.0
4.9
5.3
7.1
9.3
14.7
TABLE VI.9—PRODUCT CLASS 10, CHEST FREEZER: LCC AND PBP RESULTS
Efficiency level
(% less than
baseline
energy use)
Trial standard
level
1
2
3
4
5
......................
......................
......................
......................
......................
Life-cycle cost 2009$
Installed
cost
Baseline ..........
1 (10) ..............
2 (15) ..............
3 (20) ..............
4 (25) ..............
5 (30) ..............
6 (35) ..............
7 (41) ..............
Discounted
operating
cost
$367
373
383
393
436
456
510
620
Life-cycle cost savings
Average
savings
2009$
LCC
$623
573
544
515
485
455
433
395
$990
947
927
908
921
911
943
1,015
% of households that experience
Payback
period
(years)
Net cost
No impact
Net benefit
Median
..................
43
63
82
69
79
47
¥25
....................
0.20
3.01
5.14
27.3
29.1
48.7
69.1
....................
16.2
1.18
0.22
0.22
0.22
0.00
0.00
..................
83.6
95.8
94.6
72.5
70.6
51.4
31.0
..................
2.0
3.2
3.9
8.1
8.5
12.1
17.8
TABLE VI.10—PRODUCT CLASS 11, COMPACT REFRIGERATORS: LCC AND PBP RESULTS
Efficiency level
(% less than
baseline
energy use)
emcdonald on DSK5VPTVN1PROD with RULES3
Trial standard
level
1 ......................
2 ......................
3 ......................
4 ......................
5 ......................
VerDate Mar<15>2010
Life-cycle cost 2009$
Installed
cost
Baseline ..........
1 (10) ..............
2 (15) ..............
3 (20) ..............
4 (25) ..............
5 (30) ..............
6 (35) ..............
7 (40) ..............
8 (45) ..............
9 (50) ..............
10 (59) ............
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operating
cost
$131
137
141
146
157
166
192
199
230
247
308
PO 00000
$167
151
143
135
127
119
112
104
97
89
75
Frm 00052
Life-cycle cost savings
Average
savings
2009$
LCC
$298
287
284
281
284
285
304
303
327
336
383
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Net cost
No impact
Net benefit
Median
..................
11
14
17
14
13
¥6
¥5
¥29
¥38
¥85
....................
9.01
13.6
19.7
36.8
43.4
71.3
69.8
83.5
85.4
92.2
....................
1.60
1.39
1.39
1.00
0.92
0.00
0.00
0.00
0.00
0.00
..................
89.4
85.0
79.0
62.3
55.6
28.7
30.2
16.5
14.6
7.85
..................
1.8
2.1
2.5
3.5
3.9
6.0
5.8
7.7
8.0
10.4
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57567
TABLE VI.11—PRODUCT CLASS 18, COMPACT FREEZERS: LCC AND PBP RESULTS
Efficiency level
(% less than
baseline
energy use)
Trial standard
level
1, 2 ..................
3 ......................
4 ......................
5 ......................
Life-cycle cost 2009$
Installed
cost
Baseline ..........
1 (10) ..............
2 (15) ..............
3 (20) ..............
4 (25) ..............
5 (30) ..............
6 (35) ..............
7 (42) ..............
Discounted
operating
cost
$182
189
201
242
252
282
289
360
Life-cycle cost savings
Average
savings
2009$
LCC
$200
182
172
163
153
146
137
124
$382
370
373
404
405
428
426
484
% of households that experience
Payback
period
(years)
Net cost
No impact
Net benefit
Median
..................
12
9
¥22
¥23
¥46
¥44
¥102
....................
7.98
33.9
87.4
84.5
92.4
89.6
96.7
....................
4.66
0.00
0.00
0.00
0.00
0.00
0.00
..................
87.4
66.1
12.6
15.5
7.6
10.4
3.3
..................
2.2
4.2
9.8
9.1
11.4
10.4
14.4
TABLE VI.12—PRODUCT CLASS 3A–BI, BUILT-IN ALL-REFRIGERATORS: LCC AND PBP RESULTS
Efficiency level
(% less than
baseline
energy use)
Trial standard
level
1
2
3
4
5
......................
......................
......................
......................
......................
Baseline ..........
1 (10) ..............
2 (15) ..............
3 (20) ..............
4 (25) ..............
5 (29) ..............
Life-cycle cost 2009$
Installed
cost
Discounted
operating
cost
$4,316
4,323
4,334
4,452
4,625
4,756
Life-cycle cost savings
Average
savings
2009$
LCC
$828
769
739
703
670
646
$5,144
5,091
5,073
5,155
5,295
5,402
% of households that experience
Payback
period
(years)
Net cost
No impact
Net benefit
Median
..................
52
71
¥11
¥151
¥258
....................
0.02
0.94
61.5
91.0
95.0
....................
22.6
18.4
9.10
0.00
0.00
..................
77.4
80.7
29.4
9.02
5.01
..................
1.4
2.6
13.7
25.5
31.4
TABLE VI.13—PRODUCT CLASS 5–BI, BUILT-IN BOTTOM-MOUNT REFRIGERATOR-FREEZERS: LCC AND PBP RESULTS
Efficiency level
(% less than
baseline
energy use)
Trial standard
level
1 .....................
2, 3 .................
4 .....................
5 .....................
Baseline .........
1 (10) .............
2 (15) .............
3 (20) .............
4 (25) .............
5 (27) .............
Life-cycle cost 2009$
Installed
cost
Discounted
operating
cost
$4,968
4,972
4,982
5,013
5,168
5,257
Life-cycle cost savings
LCC
$960
951
957
943
911
891
$5,928
5,923
5,939
5,955
6,079
6,148
% of households that experience
Payback
period
(years)
Average
savings
2009$
Net cost
No impact
Net benefit
Median
..................
$8
2
¥14
¥138
¥207
....................
0.60
7.03
27.4
98.0
98.5
....................
87.1
87.0
67.5
0.00
0.00
....................
12.3
5.94
5.09
2.03
1.50
..................
3.8
11.1
22.3
52.8
52.2
TABLE VI.14—PRODUCT CLASS 7–BI, BUILT-IN SIDE-BY-SIDE REFRIGERATOR-FREEZERS WITH THROUGH-THE-DOOR ICE
SERVICE: LCC AND PBP RESULTS
Efficiency level
(% less than
baseline
energy use)
Trial standard
level
1, 2 .................
3, 4 .................
5 .....................
Baseline .........
1 (10) .............
2 (15) .............
3 (20) .............
4 (22) .............
Life-cycle cost 2009$
Installed
cost
Discounted
operating
cost
$7,134
7,147
7,188
7,307
7,414
Life-cycle cost savings
LCC
$1,494
1,476
1,459
1,423
1,405
$8,628
8,623
8,647
8,729
8,820
% of households that experience
Payback
period
(years)
Average
savings
2009$
Net cost
No impact
Net benefit
Median
..................
$10
¥9
¥91
¥182
....................
5.77
36.4
58.5
97.6
....................
78.5
52.4
37.2
0.00
....................
15.7
11.2
4.28
2.40
..................
7.5
17.6
31.0
50.4
emcdonald on DSK5VPTVN1PROD with RULES3
TABLE VI.15—PRODUCT CLASS 9–BI, BUILT-IN UPRIGHT FREEZERS: LCC AND PBP RESULTS
Efficiency level
(% less than
baseline
energy use)
Trial standard
level
1 .....................
2 .....................
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Baseline .........
1 (10) .............
2 (15) .............
3 (20) .............
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Life-cycle cost 2009$
Installed
cost
Discounted
operating
cost
$3,928
3,943
3,956
4,042
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942
898
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Life-cycle cost savings
LCC
$4,999
4,933
4,898
4,940
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Average
savings
2009$
Net cost
No impact
Net benefit
Median
..................
$66
101
59
....................
1.53
3.99
42.9
....................
19.9
1.70
0.57
....................
78.6
94.3
56.5
..................
2.9
3.6
10.7
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% of households that experience
Payback
period
(years)
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TABLE VI.15—PRODUCT CLASS 9–BI, BUILT-IN UPRIGHT FREEZERS: LCC AND PBP RESULTS—Continued
Life-cycle cost 2009$
Efficiency level
(% less than
baseline
energy use)
Trial standard
level
3, 4 .................
5 .....................
Discounted
operating
cost
Installed
cost
4 (25) .............
5 (27) .............
4,176
4,278
b. Consumer Subgroup Analysis
As described in section IV.H, DOE
determined the impact of the considered
TSLs on low-income households and
senior-only households. DOE did not
estimate impacts for compact
refrigeration products because the
Life-cycle cost savings
Average
savings
2009$
LCC
847
822
% of households that experience
Net cost
¥23
¥101
5,023
5,100
Payback
period
(years)
No impact
68.8
79.8
household sample sizes were not large
enough to yield meaningful results.
Table VI.16 through Table VI.18
compare the average LCC savings at
each efficiency level for the two
consumer subgroups with the average
LCC savings for the entire sample for
each representative product class. In
Net benefit
0.49
0.27
Median
30.7
20.0
17.8
22.6
general, the average LCC savings for
low-income households and senior-only
households at the considered efficiency
levels are not substantially different
from the average for all households.
Chapter 11 of the final rule TSD
presents the complete LCC and PBP
results for the two subgroups.
TABLE VI.16—STANDARD-SIZE REFRIGERATOR-FREEZERS: COMPARISON OF AVERAGE LCC SAVINGS FOR CONSUMER
SUBGROUPS AND ALL HOUSEHOLDS
Top-mount refrigerator-freezers
Bottom-mount refrigerator-freezers
Side-by-side refrigerator-freezers
Product class 3
Product class 5
Product class 7
Efficiency level (% less
than baseline energy
use)
Senior
1
2
3
4
5
6
(10) ..........................
(15) ..........................
(20) ..........................
(25) ..........................
(30) ..........................
(36/36/33) ................
Lowincome
$43
64
36
31
¥20
¥105
All
$49
73
48
47
0
¥81
Lowincome
Senior
$46
69
43
41
¥7
¥89
$9
13
21
¥1
¥63
¥151
All
$10
15
24
6
¥52
¥136
Lowincome
Senior
$9
14
22
5
¥54
¥137
$22
42
59
48
¥31
¥100
All
$23
46
64
56
¥23
¥91
$22
44
62
57
¥18
¥85
TABLE VI.17—STANDARD-SIZE FREEZERS: COMPARISON OF AVERAGE LCC SAVINGS FOR CONSUMER SUBGROUPS AND
ALL HOUSEHOLDS
Upright freezers
Chest freezers
Product class 9
Product class 10
Efficiency level (% less than baseline energy use)
Senior
1
2
3
4
5
6
7
8
(10) ............................................................................................
(15) ............................................................................................
(20) ............................................................................................
(25) ............................................................................................
(30) ............................................................................................
(35) ............................................................................................
(40/41) .......................................................................................
(44) ............................................................................................
Lowincome
$69
98
130
153
179
170
139
8
Senior
All
$69
98
129
153
179
170
139
8
$73
105
139
166
195
189
160
32
Lowincome
All
$45
66
86
74
$85
54
¥18
..................
$42
61
79
65
$75
42
¥32
..................
$43
63
82
68
79
47
¥26
..................
TABLE VI.18—BUILT-IN REFRIGERATION PRODUCTS: COMPARISON OF AVERAGE LCC SAVINGS FOR CONSUMER
SUBGROUPS AND ALL HOUSEHOLDS
Built-in all refrigerators
Built-in side-by-side
refrigerator-freezers
Product class 5–BI
Product class 7–BI
Product class 3A–BI
Efficiency level (% less
than baseline energy use)
emcdonald on DSK5VPTVN1PROD with RULES3
Built-in bottom-mount
refrigerator-freezers
Built-in upright freezers
Product class 9–BI
Senior
1
2
3
4
5
(10) ................................
(15) ................................
(20) ................................
(25/25/22/25) .................
(29/27/-/27) ....................
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Lowincome
All
Senior
Lowincome
All
Senior
Lowincome
All
Senior
Lowincome
All
$48
65
¥25
¥170
¥280
$54
74
¥14
¥155
¥263
$52
71
¥12
¥152
¥260
$7
0
¥19
¥148
¥219
$8
2
¥17
¥141
¥210
$8
2
¥15
¥139
¥208
$8
¥15
¥107
¥199
............
$9
¥14
¥109
¥201
............
$10
¥9
¥92
¥183
............
$61
93
47
¥39
¥119
$61
92
46
¥41
¥121
$66
101
58
¥24
¥102
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
c. Rebuttable Presumption Payback
As discussed in section III.D.2, EPCA
provides a rebuttable presumption that
an energy conservation standard is
economically justified if the increased
purchase cost for a product that meets
the standard is less than three times the
value of the first-year energy savings
resulting from the standard. In
calculating a rebuttable presumption
payback period for the considered
standard levels, DOE used discrete
values rather than distributions for
input values, and, as required by EPCA,
based the energy use calculation on the
DOE test procedures for refrigeration
products. As a result, DOE calculated a
single rebuttable presumption payback
value, and not a distribution of payback
periods, for each efficiency level. Table
VI.19 through Table VI.22 present the
average rebuttable presumption payback
periods for those efficiency levels where
the increased purchase cost for a
product that meets a standard at that
level is less than three times the value
of the first-year energy savings resulting
from the standard.
TABLE VI.19—STANDARD-SIZE REFRIGERATOR-FREEZERS: EFFICIENCY LEVELS WITH REBUTTABLE PAYBACK PERIOD LESS
THAN THREE YEARS
Product class 3: Top-mount refrigerator-freezer
Product class 5: Bottom-mount refrigeratorfreezer
Product class 7:
Side-by-side refrigerator-freezer with TTD *
Efficiency level
(% less than baseline
energy use)
PBP
Years
Efficiency level
(% less than baseline
energy use)
PBP
Years
Efficiency level
(% less than baseline
energy use)
PBP
Years
1 (10)
2 (15)
2.4
2.6
...................................
1 (10)
2 (15)
...................................
2.1
2.4
...................................
1 (10)
2 (15)
3 (20)
1.4
1.7
2.9
* Through-the-door ice service.
TABLE VI.20—STANDARD-SIZE FREEZERS: EFFICIENCY LEVELS WITH REBUTTABLE PAYBACK PERIOD LESS THAN THREE
YEARS
Product class 9: Upright freezer
Product class 10: Chest freezer
Efficiency level
(% less than baseline energy use)
PBP
Years
Efficiency level
(% less than baseline energy use)
PBP
Years
1 (10)
1.9
.......................................................
1 (10)
2 (15)
1.8
2.7
TABLE VI.21—COMPACT REFRIGERATION PRODUCTS: EFFICIENCY LEVELS WITH REBUTTABLE PAYBACK PERIOD LESS
THAN THREE YEARS
Product class 11: Compact refrigerator
Product class 18: Compact freezer
Efficiency level
(% less than baseline energy use)
PBP
Years
Efficiency level
(% less than baseline energy use)
PBP
Years
1 (10)
2 (15)
3 (20)
1.8
2.1
2.7
1 (10)
.......................................................
.......................................................
2.0
.......................................................
.......................................................
TABLE VI.22—BUILT-IN REFRIGERATION PRODUCTS: EFFICIENCY LEVELS WITH REBUTTABLE PAYBACK PERIOD LESS THAN
THREE YEARS
Product class 3A–BI: Built-in
all-refrigerator
Product class 5–BI: Built-in
bottom-mount refrigerator-freezer
Product class 7–BI: Built-in sideby-side refrigerator-freezer with
TTD *
Product class 9–BI: Built-in
upright freezer
PBP
Years
Efficiency level
(% less than
baseline energy
use)
PBP
Years
Efficiency level
(% less than
baseline energy
use)
PBP
Years
Efficiency level
(% less than
baseline energy
use)
PBP
Years
1 (10)
2 (15)
emcdonald on DSK5VPTVN1PROD with RULES3
Efficiency level
(% less than
baseline energy
use)
1.5
2.6
1 (10)
..........................
..........................
..........................
1 (10)
..........................
..........................
..........................
1 (10)
..........................
2.7
..........................
* Through-the-door ice service.
While DOE examined the rebuttablepresumption criterion, it considered
whether the standard levels considered
for today’s rule are economically
justified through a more detailed
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analysis of the economic impacts of
these levels pursuant to 42 U.S.C.
6295(o)(2)(B)(i). The results of this
analysis serve as the basis for DOE to
definitively evaluate the economic
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justification for a potential standard
level (thereby supporting or rebutting
the results of any preliminary
determination of economic
justification).
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
2. Economic Impacts on Manufacturers
The NOPR MIA used changes in INPV
to compare the financial impacts of
different TSLs on manufacturers. 75 FR
at 59537–59546 (September 27, 2010)
(describing the MIA used by DOE in its
analysis). DOE presented the industry
impacts by the major product types (i.e.,
standard size refrigerator-freezers,
standard size freezers, compact
refrigerators and freezers, and built-in
refrigeration products). DOE used the
GRIM to compare the INPV of the base
case (no new energy conservation
standards) to that of each TSL for each
product grouping. The INPV is the sum
of all net cash flows discounted by the
industry’s cost of capital (discount rate).
The difference in INPV between the
base case and the standards case is an
estimate of the economic impacts that
implementing that standard level would
have on the entire industry. For today’s
final rule, DOE continues to use the
methodology presented in the NOPR (75
FR at 59519–59526 (September 27,
2010)) and in section 0. The major
methodology change DOE made for the
final rule was incorporating long term
product price trends into the analysis.
Since the price trend for residential
refrigeration products declines over the
analysis period, the base case industry
value is lower for all product groupings.
Thus, incorporating price trends in the
MIA increases the impacts on INPV due
to standards.
a. Cash-Flow Analysis Results
The tables below depict the financial
impacts on manufacturers (represented
by changes in INPV) and the conversion
costs DOE estimates manufacturers
would incur at each TSL. DOE shows
four sets of results, corresponding to the
four sets of TSLs considered in this
rulemaking. Each set of TSLs reflects the
impacts on manufacturers of a certain
group of product classes.
Each set of results below shows two
tables of INPV impacts: the first table
reflects the lower (less severe) bound of
impacts and the second represents the
upper bound. To evaluate this range of
cash-flow impacts on the residential
refrigeration products industry, DOE
modeled two different scenarios using
different markup assumptions. These
assumptions correspond to the bounds
of a range of market responses that DOE
anticipates could occur in the standards
case (i.e. where amended energy
conservation standards apply). Each
scenario results in a unique set of cash
flows and corresponding industry value
at each TSL.
To assess the lower (less severe) end
of the range of potential impacts, DOE
modeled the flat markup scenario. The
flat markup scenario assumes that in the
standards case manufacturers would be
able to pass the higher production costs
required for more efficient products on
to their customers. Specifically, the
industry would be able to maintain its
average base-case gross margin, as a
percentage of revenue, despite higher
product costs. In general, the larger the
product price increases, the less likely
manufacturers are able to achieve the
cash flow from operations calculated in
this scenario because manufacturers
would be less likely to be able to fully
recoup these costs through larger price
increases.
Through its discussions with
manufacturers, DOE found that overall
profit is driven more by the bundling of
product features, such as stainless steel
exteriors, ice dispensers, and digital
displays, than by energy efficiency
characteristics. In other words, more
efficient products command higher
prices, but these prices are driven by the
many other features that are also
bundled with increased efficiency.
However, the overall profit margin
percentage does not vary widely even if
the dollar profit per unit increases for
products with these additional features.
Manufacturers are skeptical that
customers would accept higher prices
for increased energy efficiency because
it does not command higher margins in
the current market. Under such a
scenario, it follows that the large
retailers that compose the relatively
concentrated customer base of the
industry would not accept
manufacturers fully passing through the
additional cost of improved efficiency
because consumers would be wary of
higher prices without additional
features. Therefore, to assess the higher
(more severe) end of the range of
potential impacts, DOE modeled the
preservation of operating profit markup
scenario in which higher energy
conservation standards result in lower
manufacturer markups. This scenario
models manufacturers’ concerns that the
higher costs of more efficient technology
would harm profitability if the full cost
increases cannot be passed on. The
scenario represents the upper end of the
range of potential impacts on
manufacturers because higher
production costs erode profit margins
and result in lower cash flows from
operations.
DOE used the main NIA shipment
scenario for both the lower- and higherbound MIA scenarios that were used to
characterize the potential INPV impacts.
The shipment forecast is an important
driver of the INPV results below. The
main NIA shipment scenario includes a
price elasticity effect, meaning higher
prices in the standards case result in
lower shipments. Lower shipments also
reduce industry revenue, and, in turn,
INPV.
i. Cash-Flow Analysis Results for
Standard-Size Refrigerator-Freezers
As part of its cash-flow analysis for
standard-size refrigerator-freezers, DOE
applied two different scenarios to
project the impacts on manufacturers
from standards at the various TSLs that
DOE considered. The following tables
provide those projected impacts under
the flat-markup and preservation of
operating profit markup scenarios.
TABLE VI.23—MANUFACTURER IMPACT ANALYSIS FOR STANDARD-SIZE REFRIGERATOR-FREEZERS—FLAT MARKUP
SCENARIO
Trial standard level
Units
Base case
emcdonald on DSK5VPTVN1PROD with RULES3
1
2
3
4
5
INPV ..................................
Change in INPV ................
(2009$ millions) ................
(2009$ millions) ................
(%) ....................................
2,670.1
....................
....................
2,552.2
(117.8)
¥4.4%
2,450.9
(219.2)
¥8.2%
2,325.1
(345.0)
¥12.9%
1,885.1
(784.9)
¥29.4%
1,627.9
(1,042.2)
¥39.0%
Product Conversion Costs
Capital Conversion Costs
(2009$ millions) ................
(2009$ millions) ................
....................
....................
153
229
197
393
229
620
348
1,405
406
2,013
Total Conversion
Costs.
(2009$ millions) ................
....................
382
590
848
1,753
2,419
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
57571
TABLE VI.24—MANUFACTURER IMPACT ANALYSIS FOR STANDARD-SIZE REFRIGERATOR-FREEZERS—PRESERVATION OF
OPERATING PROFIT MARKUP SCENARIO
Trial standard level
Units
Base case
1
2
3
4
5
(2009$ millions) ................
(2009$ millions) ................
(%) ....................................
2,670.1
....................
....................
2,417.5
(252.6)
¥9.5%
2,274.2
(395.9)
¥14.8%
2,089.4
(580.7)
¥21.7%
1,360.8
(1,309.3)
¥49.0%
828.6
(1,841.5)
¥69.0%
Product Conversion Costs
Capital Conversion Costs
(2009$ millions) ................
(2009$ millions) ................
....................
....................
153
229
197
393
229
620
348
1,405
406
2,013
Total Conversion
Costs.
emcdonald on DSK5VPTVN1PROD with RULES3
INPV ..................................
Change in INPV ................
(2009$ millions) ................
....................
382
590
848
1,753
2,419
TSL 1 represents the current ENERGY
STAR level for standard-size
refrigerator-freezers or a 20-percent
reduction in measured energy
consumption over the current energy
conservation standards for the analyzed
standard-size top-mount product class
3, a 20-perecent reduction for the
analyzed standard-size bottom-mount
product class 5, and a 20-percent
reduction for the analyzed standard-size
side-by-side product class 7. At TSL 1,
DOE estimates impacts on INPV to range
from ¥$117.8 million to ¥$252.6
million, or a change in INPV of ¥4.4
percent to ¥9.5 percent. At this TSL,
industry free cash flow is estimated to
decrease by approximately 71.8 percent
to $51.5 million, compared to the basecase value of $182.8 million in the year
leading up to the amended energy
conservation standards.
The INPV impacts at TSL 1 are
relatively minor, in part because the
vast majority of manufacturers produce
ENERGY STAR units in significant
volumes, particularly for product
classes 5 and 7. Approximately 42
percent of product class 7 shipments
and 47 percent of product class 5
shipments currently meet this TSL. By
contrast, the vast majority of product
class 3 shipments are baseline units.
Additionally, most of the design options
DOE analyzed at this TSL are one-forone component swaps, including more
efficient compressors and brushless DC
condenser and evaporator fan motors,
which require only modest changes to
the manufacturing process at TSL 1. As
such, DOE estimated total product
conversion costs of $153 million and
capital conversion costs of $229 million.
While substantial on a nominal basis,
the total conversion costs are relatively
low compared to the industry value of
$2.7 billion. The total conversion costs
at TSL 1 are mostly driven by the design
options that manufacturers could use to
improve the efficiency of the smallersized units of the product classes
analyzed. For example, the analyzed
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design options for the 22-cubic foot
product class 7 unit included a VIP in
the freezer door, while the 26-cubic foot
product class 7 unit only analyzed less
costly component swaps. VIP
implementation would require
significant capital and product
conversion costs because additional
production steps are required to hold
and bind each panel in its location
before the product is foamed. Each
additional step requires more
equipment to lengthen production lines
and, because of lower throughput, more
production lines for each manufacturer
to maintain similar shipment volumes.
Some manufacturers have experience
with VIPs, but DOE expects substantial
engineering and testing resources would
be required for their use in new
platforms and/or at higher production
volumes.
Similarly, the 16-cubic foot product
class 3 unit uses a variable speed
compressor as a design option. While
not a capital intensive solution, variable
speed compressors would require
substantial engineering time to integrate
the complex component, especially if
electronic control systems would also be
required. Because these changes are
more complex than the other analyzed
design options, more than three-quarters
of the conversion costs for TSL 1 are
attributable to the use of the VIPs and
variable speed compressors in the
smaller-volume product class 7 and
product class 3 units, respectively.
The flat markup scenario shows
slightly negative impacts at TSL 1,
indicating that the outlays for
conversion costs marginally outweigh
any additional profit earned on
incrementally higher variable costs. On
a shipment-weighted basis, the average
MPC for standard-size refrigeratorfreezers increases by 10 percent at TSL
1 after standards. These small
component cost changes are not
significant enough to fully recoup these
investments even if manufacturers earn
additional profit on these costs, as the
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flat markup scenario assumes. Hence,
there is a slight negative impact, even in
the upper-bound scenario, at TSL 1.
The efficiency requirements for
product class 3 and product class 5
refrigerator-freezers are the same at TSL
2 as TSL 1. However, the efficiency
requirements for product class 7
increase to a 25-percent reduction in
measured energy consumption from
current energy conservation standards.
DOE estimates the INPV impacts at TSL
2 range from ¥$219.2 million to
¥$395.9 million, or a change in INPV
of ¥8.2 percent to ¥14.8 percent. At
this TSL, the industry cash flow is
estimated to decrease by approximately
113.9 percent to ¥$25.4 million,
compared to the base-case value of
$182.8 million in the year leading up to
the amended energy conservation
standard.
The additional impacts at TSL 2
relative to TSL 1 result from the further
improvements manufacturers must
make to product class 7 refrigeratorfreezers to achieve a 25-percent energy
reduction, as very few shipments of
product class 7 currently exceed the
ENERGY STAR level. Specifically, for
the 22-cubic foot products, the design
options DOE analyzed include a
variable speed compressor and a VIP in
the freezer cabinet, instead of the door
as in TSL 1. For the 26-cubic foot
product class 7 unit, the design options
analyzed include a VIP in the freezer
door in addition to additional
component swaps and the component
swaps needed to meet TSL 1. Total
conversion costs increase by $208
million compared to TSL 1, which is
largely driven by the initial use of VIPs
in the 26-cubic foot product class 7 unit.
Besides these specific changes to sideby-side units, at TSL 2 most production
lines of standard-size refrigeratorfreezers do not use VIPs or other very
costly components, which mitigates
some of the disruption to current
facilities. Consequently, the INPV
impacts, while greater than at TSL 1, are
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still relatively moderate compared to the
value of the industry as a whole.
At TSL 2, the INPV in the flat markup
is lower than at TSL 1, which means the
additional conversion costs to add more
VIPs leaves manufacturers worse off
even if they can earn additional profit
on these costly components. In the
preservation of operating profit markup
scenario, the industry earns no
additional profit on this greater
investment, lowering cash flow from
operations in the standards case and
resulting in greater INPV impacts.
The efficiency requirements for
product class 5 and product class 7
refrigerator-freezers are the same at TSL
3 as TSL 2. However, the efficiency
requirements for product class 3
increase to a 25-percent reduction in
measured energy consumption from
current energy conservation standards.
TSL 3 represents a 25-percent reduction
in measured energy consumption over
the current energy conservation
standards for both product class 3 and
product class 7. In addition, TSL 3
represents a 20-percent reduction in
measured energy consumption for
product classes 1, 1A, and 2. DOE
estimates the INPV impacts at TSL 3 to
range from ¥$345.0 million to ¥$580.7
million, or a change in INPV of ¥12.9
percent to ¥21.7 percent. At this TSL,
the industry cash flow is estimated to
decrease by approximately 168.0
percent to ¥$124.3 million, compared
to the base-case value of $182.8 million
in the year leading up to the standards.
The additional negative impacts on
industry cash flow result from the
changes to product class 3 refrigeratorfreezers to reach a 25-percent reduction
in energy use (side-by-side products met
this efficiency level at TSL 2).
Specifically, the design options DOE
analyzed at TSL 3 for 16-cubic foot topmount refrigerator-freezers included the
use of VIPs for the first time (in the
freezer cabinet), in addition to the
component swaps discussed above. In
total, DOE estimates product conversion
costs of $229 million and capital
conversion costs of $620 million at TSL
3. The high cost to purchase new
production equipment and the large
engineering effort to manufacture new
platforms for these smaller-sized
product class 3 units drive the vast
majority of this additional $258 million
in conversion costs that DOE estimates
manufacturers would incur at TSL 3.
Because the smaller size top-mounted
units account for a large percentage of
total shipments, the production
equipment necessary to implement new
platforms for these products is costly.
While production of units meeting
TSL 3 is fairly limited, several
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manufacturers have introduced
products that meet these efficiency
levels in response to Federal production
tax credits. This experience mitigates
some of the product conversion costs by
giving manufacturers some experience
with the newer technologies. However,
the more severe impacts at TSL 3,
relative to TSL 2, are due to the
incremental outlays for conversion costs
to make the changes described above. In
particular, any experience with VIPs on
some products does not lower the
substantial capital conversion necessary
to purchase production equipment
necessary to manufacture products that
are substantially different from existing
products.
As mentioned above, the preservation
of operating profit markup scenario
assumes no additional profit is earned
on the higher production costs. This
assumption lowers profit margins as a
percentage of revenue and leads to
worse impacts on INPV. In the flat
markup scenario, the impact of the
investments is mitigated by the
assumption that manufacturers can earn
a similar profit margin as a percentage
of revenues on their higher variable
costs. At TSL 3, MPCs increase by an
average of 16 percent after standards,
leading to additional per-unit profit in
this scenario. However, the magnitude
of the conversion investments still leads
to negative INPV impacts even if
additional profit is earned on the
incremental manufacturing costs. The
lower industry shipments driven by the
relative price elasticity assumption
account for approximately $45 million
of the impact in the flat markup
scenario.
TSL 4 represents a 30-percent
reduction in measured energy
consumption over the current energy
conservation standards for product class
3, product class 5, and product class 7.
DOE estimates the INPV impacts at TSL
4 to range from ¥$784.9 million to
¥$1,309.3 million, or a change in INPV
of ¥29.4 percent to ¥49.0 percent. At
this TSL, the industry cash flow is
estimated to decrease by approximately
a factor of 3.6 to ¥$469.3 million,
compared to the base-case value of
$182.8 million in the year leading up to
the amended energy conservation
standards.
At TSL 4, significant changes to the
manufacturing process are necessary for
all refrigerator-freezers. A 30-percent
reduction in energy consumption is the
maximum-efficiency top-mounted
products available on the market; 47 the
maximum available side-by-side and
bottom-mount only slightly exceed a 30percent reduction. The design options
DOE analyzed for all standard-size
products—with the exception of the 25cubic foot product class 5 unit—use
multiple VIPs in the fresh food
compartment, freezer doors, and
cabinets to reach the 30-percent
efficiency level. The design options also
include the use of variable speed
compressors for all units analyzed
except the 21-cubic foot product class 3
unit. These product changes
substantially increase the variable costs
across nearly all platforms at this TSL.
While products that meet the
efficiency requirements of TSL 4 are not
in widespread production, several
manufacturers produce units at these
efficiencies due to tax credit incentives.
However, at TSL 4, most manufacturers
expect to completely redesign existing
production lines if the amended energy
conservation standards were set at
levels that necessitated these changes
across most or all of their products.
Manufacturers would need to purchase
injection molding equipment, cabinet
bending equipment, and other
equipment for interior tooling as they
would need to create new molds for
these production lines. These changes
drive DOE’s estimate of the large
product and capital conversion costs at
TSL 4 ($348 million and $1,405 million,
respectively). The significant
incremental investment relative to TSL
3 results, in large part, from the design
option of adding VIPs to the 21-cubic
foot analyzed product class 3 unit. This
top-mounted refrigerator-freezer
represents a substantial portion of the
market and manufacturers would have
to completely redesign these platforms.
As a result of the large investment
necessary to meet this TSL, some
manufacturers could move production
to lower-labor-costs countries to achieve
cost savings for labor expenditures.
(More information on employment
impacts is provided in section 0.) In
addition to the large capital conversion
costs, the shipment-weighted average
MPC increases by approximately 36
percent at TSL 4 after standards
compared to the base case. However, the
magnitude of the conversion costs at
TSL 4 are so large that even if
manufacturers can reap additional profit
from these higher product costs (as in
the flat markup scenario), they would
still be substantially impacted, as shown
by the negative INPV results in the flat
markup scenario. Additionally, the 36percent increase in MPC drives
47 Throughout the document, the terms ‘‘max
available’’ or ‘‘max-tech available’’ are intended to
mean the maximum efficiency level of available
products.
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shipments lower due to the price
elasticity. Lower industry volume from
the decline in shipments accounts for a
change in industry value of
approximately 16 percent in the flat
markup scenario. The large, negative
impact on INPV is even greater under
the preservation of operating profit
markup scenario due to the inability to
pass on the higher costs of expensive
design options such as variable speed
compressors and VIPs.
TSL 5 represents max tech for all
standard-size refrigerator-freezers. The
max-tech level corresponds to
reductions in measured energy
consumption compared to the current
energy conservation standards for
product class 3 (36 percent), product
class 5 (36 percent), and product class
7 (33 percent), respectively. DOE
estimates the INPV impacts at TSL 5 to
range from ¥$1,042.2 million to
¥$1,841.5 million, or a change in INPV
of ¥39.0 percent to ¥69.0 percent. At
this TSL, the industry cash flow is
estimated to decrease by a factor of
approximately 5.0 to ¥$727.5 million,
compared to the base-case value of
$182.8 million in the year leading up to
the amended energy conservation
standards.
No products that meet TSL 5 are
currently offered on the U.S. market. At
TSL 5, the changes required to meet this
TSL are similar to those at TSL 4, as
complete redesigns of all platforms
would be required. TSL 5 requires much
more extensive use of VIPs, however.
The higher conversion costs at TSL 5 are
primarily due to the use of VIPs in
additional locations in the door, cabinet
and freezer, whereas at TSL 4 some of
the analyzed design options of the
larger-sized units included limited or no
VIP use. This level would require
manufacturers to further lengthen
assembly lines and even modify or
move their facilities outside of the
United States. These factors drive the
projected $2,419 million conversion
cost estimate at this TSL. As with TSL
4, at TSL 5 some manufacturers could
elect to move production out of the U.S.
to offset some of the additional product
costs. At TSL 5, DOE estimates MPCs
increase by approximately 58 percent
after standards compared to the base
case. Similar to TSL 4, this substantially
reduces shipments due to the price
elasticity effect and exacerbates the
industry impacts in both markup
scenarios.
As with other TSLs, the impact on
INPV is mitigated under the flat markup
scenario because manufacturers are able
to fully pass on the large increase in
MPC to consumers, thereby increasing
manufacturers’ gross profit in absolute
57573
terms. However, even assuming
manufacturers could earn the same
gross margin percentage per unit on
those higher costs, the capital and
product conversion costs cause negative
INPV impacts, as shown by the 39
percent decline in INPV in the flat
markup scenario. This large impact even
in the lower bound scenario
demonstrates that the large conversion
costs to redesign all existing platforms
results in substantial harm. The result is
predicted even if manufacturers earn a
historical margin on these additional
costs. Due to the extremely large cost
increases at the max-tech level, it is less
likely at TSL 5 than at other examined
levels that manufacturers could fully
pass through the increase in production
costs. If margins are impacted, TSL 5
would result in a substantial INPV loss
under this scenario.
ii. Cash-Flow Analysis Results for
Standard-Size Freezers
As part of its cash-flow analysis for
standard-size freezers, DOE applied two
different scenarios to project the
impacts on manufacturers from
standards at the various TSLs that DOE
considered. The following tables
provide those projected impacts under
the flat-markup and preservation of
operating profit markup scenarios.
TABLE VI.25—MANUFACTURER IMPACT ANALYSIS FOR STANDARD-SIZE FREEZERS—FLAT MARKUP SCENARIO
Trial standard level
Units
Base case
1
2
3
4
5
INPV ..................................
Change in INPV ................
(2009$ millions) ................
(2009$ millions) ................
(%) ....................................
337.8
....................
....................
308.0
(29.8)
¥8.8%
214.1
(123.7)
¥36.6%
225.3
(112.5)
¥33.3%
252.4
(85.4)
¥25.3%
192.7
(145.0)
¥42.9%
Product Conversion Costs
Capital Conversion Costs
(2009$ millions) ................
(2009$ millions) ................
....................
....................
22
50
51
175
55
182
63
183
70
320
Total Conversion
Costs.
(2009$ millions) ................
....................
72
226
237
247
390
TABLE VI.26—MANUFACTURER IMPACT ANALYSIS FOR STANDARD-SIZE FREEZERS—PRESERVATION OF OPERATING
PROFIT MARKUP SCENARIO
Trial standard level
Units
Base case
1
2
3
4
5
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INPV ..................................
Change in INPV ................
(2009$ millions) ................
(2009$ millions) ................
(%) ....................................
337.8
....................
....................
287.7
(50.0)
¥14.8%
167.3
(170.5)
¥50.5%
159.6
(178.1)
¥52.7%
155.3
(182.4)
¥54.0%
39.0
(298.8)
¥88.5%
Product Conversion Costs
Capital Conversion Costs
(2009$ millions) ................
(2009$ millions) ................
....................
....................
22
50
51
175
55
182
63
183
70
320
Total Conversion
Costs.
(2009$ millions) ................
....................
72
226
237
247
390
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TSL 1 represents a 20-percent
reduction in measured energy use over
the current energy conservation
standards for the analyzed standard-size
upright freezer product class 9 and a 20percent reduction for the analyzed
standard-size chest freezer product class
10. DOE estimates the INPV impacts at
TSL 1 to range from ¥$29.8 million to
¥$50.0 million, or a change in INPV of
¥8.8 percent to ¥14.8 percent. At this
TSL, the industry cash flow is estimated
to decrease by approximately 111.2
percent to ¥$2.6 million, compared to
the base-case value of $23.2 million in
the year leading up to the amended
energy conservation standards.
While products meeting TSL 1 are
currently produced only in limited
volumes, the changes in the
manufacturing process would not
require completely new platforms to
meet the energy requirements at this
TSL. For most standard-size freezer
platforms, the design options DOE
analyzed include the use of brushless
direct current (DC) evaporator fan
motors and compressors with higher
EERs. However, the design options to
meet this efficiency level also include
increasing door insulation thickness for
all analyzed products except the 20cubic foot product class 10 unit.
Increasing door insulation thickness
drives the majority of the conversion
cost outlay DOE estimates
manufacturers would incur at TSL 1. To
increase door insulation thickness,
manufacturers would need to purchase
new tooling for their door assemblies.
DOE estimates that these changes would
result in product conversion costs of
$22 million and capital conversion costs
of $50 million at TSL 1. However, the
conversion costs are somewhat
mitigated at TSL 1 because the design
options analyzed would not change the
production equipment for the cabinet.
At TSL 1, variable costs increase by
approximately 10 percent after
standards relative to base case MPCs.
The flat markup scenario shows less
severe impacts because it assumes
manufacturers can pass on these
substantially higher product costs and
maintain gross margin percentages.
Additionally, the reduction in
shipments due to the price elasticity has
only a marginally negative effect at this
TSL. The relatively large conversion
costs decrease industry value under
both markup scenarios and account for
a substantial portion of the INPV
impacts. This is especially the case if
manufacturers are unable to earn any
additional profit on the higher
production costs (the preservation of
operating profit scenario).
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TSL 2 represents a reduction in
measured energy consumption over the
current standards of 30 percent for
product class 9 and 25 percent for
product class 10. TSL 2 also represents
reductions for the other product classes
as well—product class 8 (upright
freezers with manual defrost, 25
percent) and product class 10A (chest
freezers with automatic defrost, 30
percent). DOE estimates the INPV
impacts at TSL 2 to range from ¥$123.7
million to ¥$170.5 million, or a change
in INPV of ¥36.6 percent to ¥50.5
percent. At this TSL, the industry cash
flow is estimated to decrease by
approximately a factor of 3.6 to ¥$60.0
million, compared to the base-case
value of $23.2 million in the year
leading up to the amended energy
conservation standards.
The vast majority of the standard-size
freezer market does not currently meet
the efficiency requirements at TSL 2.
DOE’s design options assume that, in
addition to the component swaps noted
above, manufacturers would increase
the insulation thickness of both the door
and cabinet. As a result, product
redesigns are expected across most
platforms, which could substantially
disrupt current manufacturing
processes. These changes account for
the majority of DOE’s estimates for total
product conversion costs of $51 million
and capital conversion costs of $175
million, an increase over TSL 1 of $29
million and $125 million, respectively.
The magnitude of the investments,
relative to the industry value, results in
severe INPV impacts. Even if
manufacturers are able to pass on the
estimated 24-percent increase in
product costs onto their customers after
standards, the large product and capital
conversion costs resulting from
increased insulation thickness decrease
INPV. If manufacturers are not able to
pass on these costs, as shown by the
preservation of operating profit
scenario, INPV impacts are projected to
be severe.
TSL 3 represents a 35-percent
reduction in measured energy use over
the current energy conservation
standards for product class 9 and a 30percent reduction for product class 10.
DOE estimates the INPV impacts at TSL
3 to range from ¥$112.5 million to
¥$178.1 million, or a change in INPV
of ¥33.3 percent to ¥52.7 percent. At
this TSL, the industry cash flow is
estimated to decrease by a factor of
approximately 3.7 to ¥$63.8 million,
compared to the base-case value of
$23.2 million in the year leading up to
the amended energy conservation
standards.
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The efficiency requirements at TSL 3
are more stringent than the max
available products in the market for
product class 9 and product class 10.
The impacts at TSL 3 are similar to
those at TSL 2 because the design
options analyzed by DOE already
required platform redesigns at TSL 2.
However, the additional design options
analyzed at TSL 3 also include a
variable speed compressor in the 14cubic foot product class 9 unit and VIPs
in the bottom wall of the 20-cubic foot
product class 10 unit. These design
options substantially increase the
variable costs associated with these
products but do not greatly change the
product and capital conversion costs.
DOE estimates that under TSL 3, the
average MPC of a standard-size freezer
is roughly 34 percent higher after
standards than in the base case, leading
to a 9-percent drop in shipments from
the price elasticity assumption for 2014
alone.
The impacts at TSL 3 under the flat
markup scenario become less severe
than at TSL 2 because the scenario
assumes manufacturers can fully pass
on the added cost to consumers, while
investments do not significantly
increase from TSL 2 to TSL 3. However,
under the preservation of operating
profit markup scenario, manufacturers
do not receive any extra profit on units
of higher cost, resulting in worse INPV
impacts at TSL 3 than at TSL 2.
TSL 4 represents a 40-percent
reduction in measured energy use over
the current energy conservation
standards for product class 9 and a 35percent reduction for product class 10.
DOE estimates the INPV impacts at TSL
4 to range from ¥$85.4 million to
¥$182.4 million, or a change in INPV
of ¥25.3 percent to ¥54.0 percent. At
this TSL, the industry cash flow is
estimated to decrease by a factor of
approximately 3.9 to ¥$66.5 million,
compared to the base-case value of
$23.2 million in the year leading up to
the amended energy conservation
standards.
At TSL 4, the design options DOE
analyzed include the addition of a
variable speed compressor for the 20cubic foot product class 9 unit, the 15cubic foot product class 10 unit, and the
20-cubic foot product class 10 unit. For
the 14-cubic foot product class 9 unit,
the design options analyzed were even
thicker wall cabinet insulation and the
implementation of VIPs.
The relative impacts at TSL 4 are also
caused by the incremental MPCs
compared to the conversion costs to
implement these design options.
Outlays for conversion costs increase
only slightly at TSL 4 (by 4 percent,
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compared to TSL 3) while variable costs
increase substantially (by approximately
52 percent after standards compared to
the baseline) due to the addition of
variable speed compressors and VIPs.
Because manufacturers earn
incrementally more profit on each unit
at TSL 4 compared to TSL 3 in the flat
markup scenario—without substantial
changes to conversion costs—further
declines in industry value, though still
substantial, are mitigated in this
scenario. However, manufacturers
expressed skepticism that such large
cost increases could be passed on. This
view is reflected by the severely
negative results in the preservation of
operating profit scenario.
TSL 5 represents max tech for the
standard-size freezer product classes.
This TSL reflects a 44-percent reduction
in measured energy use for product
class 9 and a 41-percent reduction for
product class 10. DOE estimates the
INPV impacts at TSL 5 to range from
¥$145.0 million to ¥$298.8 million, or
a change in INPV of ¥42.9 percent to
¥88.5 percent. At this TSL, the industry
cash flow is estimated to decrease by a
factor of approximately 6.3 to ¥$122.8
million, compared to the base-case
value of $23.2 million in the year
leading up to the amended energy
conservation standards.
To achieve the max-tech level at TSL
5, DOE analyzed design options that
include the widespread implementation
of multiple VIPs on all standard-size
freezers, in addition to the use of more
efficient components and thicker
insulation already necessary to achieve
the efficiency requirements at TSL 4.
DOE estimated that TSL 5 would require
product and capital conversion costs of
$70 million and $320 million,
respectively. These large conversion
57575
costs result from the changes associated
with multiple VIP implementation and
wall thickness increases. In addition,
DOE estimates that product costs would
almost double base-case MPCs after
standards, driven by the use of variable
speed compressors and VIPs in the
doors and cabinet of all product lines.
As a result, INPV decreases
substantially from TSL 4 to TSL 5.
iii. Cash-Flow Analysis Results for
Compact Refrigeration Products
As part of its cash-flow analysis for
compact refrigeration products, DOE
applied two different scenarios to
project the impacts on manufacturers
from standards at the various TSLs that
DOE considered. The following tables
provide those projected impacts under
the flat-markup and preservation of
operating profit markup scenarios.
TABLE VI.27—MANUFACTURER IMPACT ANALYSIS FOR COMPACT REFRIGERATION PRODUCTS—FLAT MARKUP SCENARIO
Trial standard level
Units
Base case
1
2
3
4
5
INPV ..................................
Change in INPV ................
(2009$ millions) ................
(2009$ millions) ................
(%) ....................................
169.4
....................
....................
152.8
(16.6)
¥9.8%
133.3
(36.2)
¥21.4%
106.5
(62.9)
¥37.1%
127.9
(41.5)
¥24.5%
14.5
(154.9)
¥91.4%
Product Conversion Costs
Capital Conversion Costs
(2009$ millions) ................
(2009$ millions) ................
....................
....................
15
24
35
46
41
76
48
71
67
220
Total Conversion
Costs.
(2009$ millions) ................
....................
39
80
118
119
287
TABLE VI.28—MANUFACTURER IMPACT ANALYSIS FOR COMPACT REFRIGERATION PRODUCTS—PRESERVATION OF
OPERATING PROFIT MARKUP SCENARIO
Trial standard level
Units
Base case
1
2
3
4
5
(2009$ millions) ................
(2009$ millions) ................
(%) ....................................
169.4
....................
....................
141.6
(27.8)
¥16.4%
110.8
(58.7)
¥34.6%
80.1
(89.3)
¥52.7%
76.6
(92.8)
¥54.8%
(73.2)
(242.6)
¥143.2%
Product Conversion Costs
Capital Conversion Costs
(2009$ millions) ................
(2009$ millions) ................
....................
....................
15
24
35
46
41
76
48
71
67
220
Total Conversion
Costs.
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INPV ..................................
Change in INPV ................
(2009$ millions) ................
....................
39
80
118
119
287
TSL 1 represents a 20-percent
reduction in measured energy use over
the current energy conservation
standards for compact refrigerators and
refrigerator-freezers (product class 11)
and a 10-percent reduction for compact
freezers (product class 18) analyzed by
DOE. DOE estimates the INPV impacts
at TSL 1 to range from ¥$16.6 million
to ¥$27.8 million, or a change in INPV
of ¥9.8 percent to ¥16.4 percent. At
this TSL, industry cash flow is
estimated to decrease by approximately
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125.1 percent to ¥$2.7 million,
compared to the base-case value of
$10.7 million in the year leading up to
the amended energy conservation
standards. A small percentage of
product class 18 shipments currently
meet this TSL, but most product class
11 shipments are baseline units.
The design options analyzed by DOE
at TSL 1 assumed that more significant
changes in the manufacturing process
would be required for product class 11,
while product class 18 would only
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require increased compressor efficiency.
For product class 11, DOE analyzed
several design options that represent
component changes, such as a more
efficient compressor and increased heat
exchanger area, which do not have a
significant impact on consumer prices
or conversion costs. However, DOE also
analyzed increasing door insulation
thickness for product class 11, which
drives the bulk of the estimated $15
million and $24 million outlays for
product conversion and capital
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conversion costs, respectively. As
described for standard-size refrigeratorfreezers and standard-size freezers,
increasing insulation thickness requires
manufacturers to invest in injection
molding equipment and other
equipment for interior tooling to
manufacture products with different
door dimensions. The overall impacts at
TSL 1 are relatively moderate because
the conversion costs are still small
compared to the industry value of
$169.4 million.
The higher production costs at TSL 1
do not have a substantial impact on
INPV at TSL 1. The MPC of compact
refrigeration products on a shipmentweighted basis increases 11 percent over
the base case at TSL 1 after standards.
The combined INPV impacts are greater
under the preservation of operating
profit scenario since manufacturers
cannot pass on any of the added cost to
consumers under that scenario,
resulting in lower cash flows from
operations. However, because
production costs do not greatly increase
at TSL 1, the impacts on INPV are
relatively low under this scenario as
well.
TSL 2 represents a 25-percent
reduction in measured energy use over
the current energy conservation
standards for product class 11 and a 10percent reduction for product class 18.
TSL 2 also represents a 15-percent
reduction in measured energy
consumption for the analyzed product
classes 13, 13I, 15, and 15I, and a 20percent reduction for the unanalyzed
product classes 14 and 14I. DOE
estimates the INPV impacts at TSL 2 to
range from ¥$36.2 million to ¥$58.7
million, or a change in INPV of ¥21.4
percent to ¥34.6 percent. At this TSL,
the industry cash flow is estimated to
decrease by approximately 254.9
percent to ¥$16.6 million, compared to
the base-case value of $10.7 million in
the year leading up to the amended
energy conservation standards.
At TSL 2, further changes are required
for product class 11. In addition to
component swaps, the design options
analyzed by DOE include thicker
cabinet insulation. As discussed for TSL
1, increasing insulation thickness
significantly impacts product and
capital conversion costs, but much more
so when adding insulation to the
cabinet (as opposed to the door). To
increase the insulation thickness of the
cabinet, manufacturers must replace
virtually all stamping equipment, which
greatly increases the capital conversion
costs. Additionally, DOE analyzed the
use of isobutane refrigerant as a design
option for the 4-cubic foot product class
11 unit. At TSL 2, a substantial portion
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of the investment to reach TSL 2 would
likely be for training service technicians
to handle this volatile refrigerant. As a
result of thicker cabinet insulation and
conversion to isobutane, product
conversion and capital conversion costs
roughly double at TSL 2 (to $35 million
for product conversion costs and $46
million for capital conversion costs).
The shipment-weighted MPC increased
22 percent at TSL 2 after standards
compared to baseline costs, which also
contributed to the more severe impacts
projected under the preservation of
operation profit scenario if
manufacturers do not earn additional
profit on these higher costs.
TSL 3 represents a 30-percent
reduction in measured energy
consumption over the current energy
conservation standards for product class
11 and a 15-percent reduction for
product class 18. DOE estimates the
INPV impacts at TSL 3 to range from
¥$62.9 million to ¥$89.3 million, or a
change in INPV of ¥37.1 percent to
¥52.7 percent. At this TSL, the industry
cash flow is estimated to decrease by a
factor of approximately 3.9 to ¥$30.6
million, compared to the base-case
value of $10.7 million in the year
leading up to the amended energy
conservation standards.
At TSL 3, the design options analyzed
for both product class 18 units include
thicker door insulation, which further
increases the capital conversion costs
over TSL 1 and TSL 2, where this was
not analyzed as a design option. The
additional impacts at TSL 3 are also due
to more stringent requirements for
product class 11. A 30-percent
reduction for product class 11 is greater
than the most efficient units on the
market today. For both analyzed sizes of
product class 11, DOE analyzed the
design option of thicker insulation in
the cabinet for both units analyzed. The
net effect is a large increase in
conversion costs due to the much higher
cost of the equipment necessary to
manufacture the cabinet. At TSL 3, DOE
estimated total product conversion costs
of $41 million and capital conversion
costs of $76 million, a 46 percent total
increase in conversion costs over TSL 2.
The effect of the design changes at TSL
3 on shipment-weighted unit cost is a
27-percent increase over the average
baseline MPC after standards. The
magnitude of the investments relative to
the industry value leads to significant
impacts, although they are moderated
somewhat in the flat markup because
manufacturers earn additional profit on
the investments.
TSL 4 represents a 40-percent
reduction in measured energy use over
the current energy conservation
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standards for product class 11 and a 25percent reduction for product class 18.
DOE estimates the INPV impacts at TSL
4 to range from ¥$41.5 million to
¥$92.8 million, or a change in INPV of
¥24.5 percent to ¥54.8 percent. At this
TSL, the industry cash flow is estimated
to decrease by a factor of approximately
3.9 to ¥$30.5 million, compared to the
base-case value of $10.7 million in the
year leading up to the amended energy
conservation standards.
The design options analyzed at TSL 4
would also severely disrupt current
manufacturing processes. For the 1.7cubic foot product class 11 unit, DOE
analyzed a variable speed compressor
and isobutane refrigerant as design
options. For the 4-cubic foot product
class 11 unit and the 7-cubic foot
product class 18 unit, DOE analyzed
thicker insulation in the cabinets. For
3.4-cubic foot product class 18 unit,
DOE analyzed both an increase to
cabinet insulation thickness and VIPs in
the bottom wall as design options.
Although increasing insulation
thickness, converting to isobutane, and
implementing VIPs all would
necessitate large conversion costs,
capital conversion costs decrease
slightly from TSL 3 to TSL 4 because of
the removal of all previous design
options in the 1.7-cubic foot unit. In
other words, the design options
analyzed for this unit cause less
substantial changes to existing
production equipment, but would also
require a large investment by
manufacturers to train service
technicians to deal with the refrigerant.
Because this task would require a large
outlay for product conversion costs,
total conversion costs are roughly the
same at TSL 3 and TSL 4. Adding a
variable speed compressor in the
smaller product class 11 unit analyzed
also has a substantial impact on unit
price because of its high component
cost. At TSL 4, the shipment-weighted
MPC is 60-percent higher than the
baseline MPC after standards. These
cost increases are projected to cause a
16-percent decrease in shipments at TSL
4 in 2014 alone. Over time, this decline
significantly contributes to the negative
impacts on INPV in both markup
scenarios.
The large conversion costs and higher
prices leading to lower shipments cause
a decrease in INPV from TSL 3 to TSL
4 under the preservation of operating
profit markup scenario (since this
scenario assumes higher production
costs are not passed on to consumers).
However, under the flat markup
scenario, manufacturers are able to earn
additional profit on the new high-cost
components such as variable speed
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compressors, resulting in an increase in
INPV from TSL 3 to TSL 4.
TSL 5 represents max tech for both
product classes 11 and 18. The max-tech
level corresponds to a 59-percent and
42-percent reduction in measured
energy use for product class 11 and
product class 18, respectively. DOE
estimates the INPV impacts at TSL 5 to
range from ¥$154.9 million to ¥$242.6
million, or a change in INPV of ¥91.4
percent to ¥143.2 percent. At this TSL,
the industry cash flow is estimated to
decrease approximately ten-fold to
¥$97.6 million, compared to the basecase value of $10.7 million in the year
leading up to the amended energy
conservation standards.
The design options DOE analyzed
include the use of VIPs for all analyzed
product class 11 and 18 units to reach
max-tech efficiency levels. Additionally,
the design options analyzed for some
products also included other costly
changes. For the 1.7-cubic foot product
class 11 unit, the design options
analyzed included multiple VIPs, a
larger heat exchanger, and thicker
insulation. The design options analyzed
for the 4-cubic foot product class 11 unit
also included a variable speed
compressor and thicker insulation. For
product class 18, DOE assumed that
manufacturers would remove the design
options necessary to meet TSLs 1
through 4 and add a variable speed
compressor and thicker insulation for
both analyzed products. These
significant changes greatly increase the
investment required to manufacture
standards-compliant products. DOE
estimated that product conversion costs
would be $67 million at TSL 5, an
increase of almost 40 percent over TSL
4. DOE also estimated that capital
conversion costs would be $220 million,
a more than three-fold increase over
TSL 4. This drastic increase in
conversion costs demonstrates the
significant investments required by
implementing widespread use of VIPs
and increasing wall thickness.
At TSL 5, the shipment-weighted
MPC increases by over 150 percent over
57577
the baseline after standards due to the
high material costs of VIPs and variable
speed compressors. These large jumps
cause shipments to decrease by 42
percent due to the price elasticity in
2014 alone. As a result of lower industry
shipments and extremely high
conversion costs, INPV decreases
substantially from TSL 4 to TSL 5 and
becomes negative under the
preservation of operating profit
scenario, which indicates the industry
loses more than its base-case value in
the standards case under this scenario.
iv. Cash-Flow Analysis Results for BuiltIn Refrigeration Products
As part of its cash-flow analysis for
built-in refrigeration products, DOE
applied two different scenarios to
project the impacts on manufacturers
from standards at the various TSLs that
DOE considered. The following tables
provide those projected impacts under
the flat-markup and preservation of
operating profit markup scenarios.
TABLE VI.29—MANUFACTURER IMPACT ANALYSIS FOR BUILT-IN REFRIGERATION PRODUCTS—FLAT MARKUP SCENARIO
Trial standard level
Units
Base case
1
2
3
4
5
INPV ..................................
Change in INPV ................
(2009$ millions) ................
(2009$ millions) ................
(%) ....................................
554.1
....................
....................
502.2
(51.9)
¥9.4%
499.0
(55.1)
¥9.9%
486.1
(68.0)
¥12.3%
471.2
(82.9)
¥15.0%
464.2
(89.9)
¥16.2%
Product Conversion Costs
Capital Conversion Costs
(2009$ millions) ................
(2009$ millions) ................
....................
....................
41
40
51
38
65
55
75
74
87
84
Total Conversion
Costs.
(2009$ millions) ................
....................
81
89
119
149
171
TABLE VI.30—MANUFACTURER IMPACT ANALYSIS FOR BUILT-IN REFRIGERATION PRODUCTS—PRESERVATION OF
OPERATING PROFIT MARKUP SCENARIO
Trial standard level
Units
Base case
1
2
3
4
5
(2009$ millions) ................
(2009$ millions) ................
(%) ....................................
554.1
....................
....................
501.5
(52.6)
¥9.5%
497.6
(56.5)
¥10.2%
477.0
(77.2)
¥13.9%
456.5
(97.6)
¥17.6%
442.0
(112.1)
¥20.2%
Product Conversion Costs
Capital Conversion Costs
(2009$ millions) ................
(2009$ millions) ................
....................
....................
41
40
51
38
65
55
75
74
87
84
Total Conversion
Costs.
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INPV ..................................
Change in INPV ................
(2009$ millions) ................
....................
81
89
119
149
171
TSL 1 represents a 10-percent
reduction in measured energy use over
the current energy conservation
standards for the analyzed built-in allrefrigerator product class 3A–BI, the
analyzed built-in bottom-mount product
class 5–BI, the analyzed built-in side-byside product class 7–BI, and for the
analyzed built-in freezer product class
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9–BI. DOE estimates the INPV impacts
at TSL 1 to range from ¥$51.9 million
to ¥$52.6 million, or a change in INPV
of ¥9.4 percent to ¥9.5 percent. At this
TSL, the industry cash flow is estimated
to decrease by approximately 70.7
percent to $11.0 million, compared to
the base-case value of $37.5 million in
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the year leading up to the amended
energy conservation standards.
At TSL 1, the design options that DOE
analyzed result in moderate changes in
the manufacturing process for built-in
refrigeration products. For product
classes 3A–BI and 9–BI, the design
options that DOE analyzed to reach TSL
1 included the use of more efficient
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components that do not require
significant changes to the manufacturing
process. However, for product class 5–
BI and product class 7–BI, the design
options DOE analyzed also include the
use of VIPs in the freezer door. While
these components add to the overall
costs of production, the added costs
represent a small percentage of the total
cost of a built-in refrigeration product.
These cost deltas are low compared to
the overall cost of the products and
result in small impacts even if no
additional profit is earned on the
incremental MPCs. The estimated
product conversion costs for all built-in
refrigeration products at TSL 1 are $41
million and the estimated capital
conversion costs are $40 million. The
implementation of VIPs represents a
substantial part of the conversion costs,
but several built-in refrigeration
manufacturers have products that use
similar technology, which helps to
mitigate some of the product conversion
costs that would be required to design
products from the ground up.
TSL 2 represents a 15-percent
reduction in measured energy use for
product class 3A–BI and product class
5–BI. For product classes 7–BI and 9–BI,
TSL 2 represents a reduction of 10
percent and 20 percent, respectively.
DOE estimates the INPV impacts at TSL
2 to range from ¥$55.1 million to
¥$56.5 million, or a change in INPV of
¥9.9 percent to ¥10.2 percent. At this
TSL, the industry cash flow is estimated
to decrease by approximately 75.2
percent to $9.3 million, compared to the
base-case value of $37.5 million in the
year leading up to the amended energy
conservation standards.
The efficiency requirements for
product class 7–BI refrigerator-freezers
do not change from TSL 1 to TSL 2, but
the efficiency requirements for all other
analyzed built-in product classes
increase. The design options that DOE
analyzes at TSL 2 for product classes
3A–BI and 7–BI still only include
component swaps to reach a 15-percent
efficiency improvement. Product class
5–BI uses a variable speed compressor
in the freezer with a brushless DC
condenser fan motor, but no longer use
the VIPs used to reach TSL 1. The
design options analyzed for product
class 9–BI include a brushless DC
evaporator and condenser fan motor, a
larger condenser, a variable speed
compressor, and a VIP in the upper
door. Because product class 5–BI no
longer uses VIPs and fewer changes to
existing products are necessary, the
overall impact is a slight decrease in
capital conversion costs from $40
million at TSL 1 to $38 million at TSL
2. Product conversion costs increase to
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$51 million at TSL 2 because additional
engineering time would be required to
implement the additional component
changes. However, because the
complexity of the changes to the
products and production facilities are
similar at TSL 1 and TSL 2, there is only
a small decrease in INPV from TSL 1 to
TSL 2.
TSL 3 represents a 20-percent
reduction in measured energy use for
product class 3A–BI and product class
7–BI. For product classes 5–BI and 9–BI,
TSL 3 represents a reduction of 15
percent and 25 percent, respectively.
DOE estimates the INPV impacts at TSL
3 to range from ¥$68.0 million to
¥$77.2 million, or a change in INPV of
¥12.3 percent to ¥13.9 percent. At this
TSL, the industry cash flow is estimated
to decrease by approximately 102.9
percent to ¥$1.1 million, compared to
the base-case value of $37.5 million in
the year leading up to the amended
energy conservation standards.
The efficiency requirements for
product class 5–BI do not change from
TSL 2 to TSL 3. However, the design
options for all other built-in
refrigeration products at TSL 3 include
the implementation of VIPs. The
widespread implementation of VIPs
increases product and capital
conversion costs, which are estimated to
be $65 million and $55 million at TSL
3, respectively. Substantial changes to
existing production facilities would be
required to manufacture products that
meet the required efficiencies at TSL 3.
Most of the capital conversion costs
involve purchasing new production
equipment and would result in high
stranded assets. The extensive changes
that manufacturers would be required to
make to existing facilities and the
projected erosion of profitability if the
additional production cost of
implementing VIPs does not yield
additional profit result in a projected
decrease in INPV from TSL 3 to TSL 4.
However, the industry value is high
relative to the required capital
conversion costs and the cost of the
additional VIP panels is relatively small
compared to the overall cost of the
products, which helps to mitigate some
of the negative impacts caused by these
changes.
TSL 4 represents a 25-percent
reduction in measured energy use over
the current energy conservation
standards for the following product
classes: 3A–BI, 5–BI, and 9–BI. For
product class 7–BI, TSL 4 represents a
20-percent reduction in measured
energy use from current energy
conservation standards. DOE estimates
the INPV impacts at TSL 4 to range from
¥$82.9 million to ¥$97.6 million, or a
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change in INPV of ¥15.0 percent to
¥17.6 percent. At this TSL, the industry
cash flow is estimated to decrease by
approximately 130.3 percent to ¥$11.4
million, compared to the base-case
value of $37.5 million in the year
leading up to the amended energy
conservation standards.
The efficiency requirements for
product class 7–BI do not change from
TSL 3 to TSL 4. The design options for
the other built-in refrigeration products
all include the addition of more VIPs to
reach TSL 4. The design options
analyzed for product classes 3A–BI and
5–BI also include using a variable speed
compressor. The complexity of
implementing multiple component
swaps and the additional production
equipment necessary to use additional
VIPs increases both the product and
capital conversion costs. These costs are
estimated to be $75 million and $74
million at TSL 4, respectively, and
result in a decrease in INPV from TSL
3 to TSL 4.
TSL 5 represents max tech for the four
built-in product classes. This TSL
represents a reduction in measured
energy use of 29 percent, 27 percent, 22
percent, and 27 percent, respectively,
for product classes 3A–BI, 5–BI, 7–BI,
and 9–BI. DOE estimates the INPV
impacts at TSL 5 to range from ¥$89.9
million to ¥$112.1 million, or a change
in INPV of ¥16.2 percent to ¥20.2
percent. At this TSL, the industry cash
flow is estimated to decrease by
approximately 149.5 percent to ¥$18.6
million, compared to the base-case
value of $37.5 million in the year
leading up to the amended energy
conservation standards.
The design options analyzed by DOE
include the widespread use of VIPs to
achieve the max-tech efficiency levels at
TSL 5. Additionally, product class 3A–
BI uses multiple variable speed
compressors. Since the implementation
of VIPs is both research and capital
intensive, product and capital
conversion costs increase to $87 million
and $84 million, respectively. The
complexity of implementing multiple
component swaps and the additional
production equipment necessary to use
additional VIPs increases both the
product and capital costs.
b. Impacts on Employment
DOE quantitatively assessed the
impacts of potential amended energy
conservation standards on employment.
DOE used the GRIM to estimate the
domestic labor expenditures and
number of domestic production workers
in the base case and at each TSL from
2010 to 2043. DOE used statistical data
from the most recent U.S. Census
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Bureau’s 2007 Economic Census, the
results of the engineering analysis, and
interviews with manufacturers to
determine the inputs necessary to
calculate industry-wide labor
expenditures and domestic employment
levels. Labor expenditures involved
with the manufacture of the product are
a function of the labor intensity of the
product, the sales volume, and an
assumption that wages remain fixed in
real terms over time.
In each GRIM, DOE used the labor
content of each product and the
manufacturing production costs from
the engineering analysis to estimate the
annual labor expenditures in the
residential refrigeration product
industry. DOE used Census data and
interviews with manufacturers to
estimate the portion of the total labor
expenditures that is attributable to U.S.
(i.e., domestic) labor.
The production worker estimates in
this section only cover workers up to
the line-supervisor level who are
directly involved in fabricating and
assembling a product within an Original
Equipment Manufacturer (OEM) facility.
Workers performing services that are
closely associated with production
operations, such as material handing
with a forklift, are also included as
production labor. DOE’s estimates only
account for production workers who
manufacture the specific products
covered by this rulemaking. For
example, a worker on a wine cooler line
would not be included with the estimate
of the number of residential
refrigeration workers.
The employment impacts shown in
Table VI.31 through Table VI.33
represent the potential production
employment that could result following
amended energy conservation
standards. The upper end of the results
in these tables estimates the maximum
change in the number of production
workers after amended energy
conservation standards must be met.
The upper end of the results assumes
manufacturers would continue to
produce the same scope of covered
products in the same production
facilities. The upper end of the range
also assumes that domestic production
does not shift to lower-labor-cost
countries. Because there is a real risk of
manufacturers evaluating sourcing
decisions in response to amended
energy conservation standards, the
lower end of the range of employment
results in Table VI.31 through Table
VI.33 includes the estimated total
number of U.S. production workers in
the industry who could lose their jobs
if all existing production were moved
57579
outside of the U.S. While the results
present a range of employment impacts
following the compliance date of
amended energy conservation
standards, the discussion below also
includes a qualitative discussion of the
likelihood of negative employment
impacts at the various TSLs. Finally, the
employment impacts shown are
independent of the employment impacts
from the broader U.S. economy, which
are documented in chapter 13,
Employment Impact Analysis, of the
final rule TSD.
i. Standard-Size Refrigerator-Freezer
Employment Impacts
Using the GRIM, DOE estimates that,
in the absence of amended energy
conservation standards, there would be
7,351 domestic production workers
involved in manufacturing standard-size
refrigerator-freezers in 2014. Using 2007
Census Bureau data and interviews with
manufacturers, DOE estimates that
approximately 42 percent of standardsize refrigerator-freezers sold in the
United States are manufactured
domestically. Table VI.31 shows the
range of the impacts of potential
amended energy conservation standards
on U.S. production workers in the
standard-size refrigerator-freezer market.
TABLE VI.31—POTENTIAL CHANGES IN THE TOTAL NUMBER OF DOMESTIC STANDARD-SIZE REFRIGERATOR-FREEZER
PRODUCTION WORKERS IN 2014
Trial standard level
Base case
Total Number of Domestic Production Workers in 2014 (without changes in production locations) .........................................
Potential Changes in Domestic
Production Workers in 2014 * ...
1
2
3
4
5
7,351
7,164
7,127
7,172
7,109
6,981
..........................
(187)–(7,351)
(224)–(7,351)
(179)–(7,351)
(242)–(7,351)
(307)–(7,351)
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* DOE presents a range of potential employment impacts. Numbers in parentheses indicate negative numbers.
All examined TSLs show relatively
minor impacts on domestic employment
levels at the lower end of the range.
Most of the design options used in the
engineering analysis involve the
swapping of components in baseline
units with more efficient parts for topmounted, side-by-side, and bottommounted refrigerator-freezers. These
component swaps for these design
options add primarily material costs and
do not greatly impact the labor content
of the baseline products. The relatively
small decreases in domestic production
employment for the lower end of the
range of the employment impacts arise
from higher product prices lowering
shipments the year the standard
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becomes effective. At these higher TSLs,
the effects of lower shipments more
than offset the additional product labor
that is required to manufacture products
that use VIP panels.
During interviews, manufacturers
indicated that their domestic
employment levels could be impacted
under two scenarios: (1) The
widespread adoption of VIPs or (2)
significant capital conversion costs that
would force them to consider nondomestic manufacturing locations once
the compliance date for the amended
energy conservation standards arrive.
The widespread adoption of VIPs would
increase the labor content of today’s
products. The labor content of products
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with VIPs increases because of the extra
handling steps that would be required to
ensure that VIPs are not damaged during
production. Because of the competitive
nature of the industry, manufacturers
believed the extra labor costs could
force them to move their remaining
domestic production to lower labor cost
countries to take advantage of the
cheaper labor they offer.
Manufacturers also indicated that
large conversion costs would likely
force them to consider investing in
lower-labor-cost countries. For most
product categories, there is a range of
efficiency levels that can be met with
relatively low-cost components (as
analyzed in the engineering analysis).
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Beyond these levels, manufacturers
would need to decide to follow the MPC
design options analyzed in the
engineering analysis for each product
category. Manufacturers indicated the
analyzed design options that use
multiple VIPs would involve significant
capital conversion costs and add very
large material costs to their products
that would likely result in the relocation
of their production facilities abroad.
However, manufacturers indicated they
would face even larger capital
conversion costs at lower efficiencies if
they redesigned their products with
thicker walls. While not analyzed as a
design option for standard-size
refrigerator-freezers, increasing wall
thickness would likely result in moving
domestic production outside of the U.S.
at lower efficiency levels.
ii. Standard-Size Freezer Employment
Impacts
Using the GRIM, DOE estimates that,
in the absence of amended energy
conservation standards, there would be
1,643 standard-size freezer production
workers in the U.S. in 2014. Using the
2007 Census data and interviews with
manufacturers, DOE estimates that
approximately 80 percent of standardsize freezers sold in the United States
are manufactured domestically. Table
VI.32 shows the impacts of amended
energy conservation standards on U.S.
production workers in the standard-size
freezer market.
TABLE VI.32—POTENTIAL CHANGES IN THE TOTAL NUMBER OF DOMESTIC STANDARD-SIZE FREEZER PRODUCTION
WORKERS IN 2014
Trial standard level
Base case
Total Number of Domestic Production Workers in 2014 (without changes in production locations) .........................................
Potential Changes in Domestic
Production Workers in 2014* ...
1
2
3
4
5
1,643
1,597
1,537
1,497
1,410
1,303
..........................
(46)–(1,643)
(106)–(1,643)
(146)–(1,643)
(233)–(1,643)
(340)–(1,643)
* DOE presents a range of potential employment impacts. Numbers in parentheses indicate negative numbers.
Similar to standard-size refrigeratorfreezers, there are relatively small
decreases in employment at the lower
end of the range of employment
impacts. These slight declines are
caused by higher prices that drive lower
shipments once manufacturers must
meet the amended energy conservation
standard. Standard-size freezer
manufacturers also indicated that
domestic production could be shifted
abroad with any efficiency level that
required large capital conversion costs.
At TSL 1, DOE does not expect
substantial changes to domestic
employment in the standard-size freezer
market if manufacturers use the design
options listed in the engineering
analysis to reach the efficiency
requirements at this TSL.
However, at TSL 2 through TSL 5,
manufacturers indicated that there
could be domestic employment impacts
depending on the design pathway used
to reach the required efficiencies. At
TSL 2 and above, the engineering
analysis assumes that manufacturers
would have to change wall thicknesses
to reach the required efficiencies.
Manufacturers indicated that because
these products are typically low-end,
they would likely follow the design
pathways in the engineering analysis
and increase the wall insulation
thickness to reach higher efficiencies in
order to avoid having to pass large price
increases on to consumers. While this
approach would result in extremely
large conversion costs and would be
more likely lead to manufacturers
moving production abroad,
manufacturers believed this strategy
would help to maintain sales volumes.
iii. Compact Refrigeration Product
Employment Impacts
DOE’s research suggests that a limited
percentage of compact refrigerators and
refrigerator-freezers are made
domestically (see Table VI.33). The
overwhelming majority of products are
imported. Manufacturers with domestic
manufacturing facilities tend to source
or import their compact products. The
small employment numbers are mostly
from remaining domestic production of
compact chest freezers. As a result,
amended energy conservation standards
for compact refrigerators or refrigeratorfreezers are unlikely to noticeably alter
domestic employment levels.
TABLE VI.33—POTENTIAL CHANGES IN THE TOTAL NUMBER OF DOMESTIC COMPACT REFRIGERATION PRODUCT
PRODUCTION WORKERS IN 2014
Trial standard level
emcdonald on DSK5VPTVN1PROD with RULES3
Base case
Total Number of Domestic Production Workers in 2014 (without changes in production locations) .........................................
Potential Changes in Domestic
Production Workers in 2014* ...
1
2
3
4
27
26
26
25
24
40
..........................
(1)–(27)
(1)–(27)
(2)–(27)
(3)–(27)
13–(27)
* DOE presents a range of potential employment impacts. Numbers in parentheses indicate negative numbers.
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iv. Built-In Refrigeration Product
Employment Impacts
Using the GRIM, DOE estimates that,
in the absence of amended energy
conservation standards, there would be
1,139 U.S. works manufacturing built-in
refrigeration products in 2014. Using the
2007 Census data and interviews with
manufacturers, DOE estimates that
approximately 94 percent of the built-in
refrigeration products sold in the United
States are manufactured domestically.
Table VI.34 shows the impacts of
amended energy conservation standards
on U.S. production workers in the builtin refrigeration market.
TABLE VI.34—POTENTIAL CHANGES IN THE TOTAL NUMBER OF BUILT-IN REFRIGERATION PRODUCT PRODUCTION
WORKERS IN 2014
Trial standard level
Base case
Total Number of Domestic Production Workers in 2014 (without changes in production locations) .........................................
Potential Changes in Domestic
Production Workers in 2014* ...
1
2
3
4
5
1,139
1,139
1,138
1,145
1,148
1,171
..........................
0–(1,139)
(1)–(1,139)
6–(1,139)
9–(1,139)
32–(1,139)
* DOE presents a range of potential employment impacts. Numbers in parentheses indicate negative numbers.
Employment in the built-in
refrigeration market follows a pattern
similar to that seen in the market for
standard-size refrigerator-freezers and
standard-size freezers at lower TSLs. At
TSL 1 and TSL 2, higher prices result
in fewer shipments, and a consequent
reduction in labor expenditures that
more than offsets the additional labor
required to manufacture products with
VIPs. However, at TSL 3 and above, the
use of additional VIPs in built-in
refrigeration products requires enough
additional labor to cause a slight
increase in the number of domestic
production workers. Because built-in
products are high-end products with far
fewer shipments, it is less likely that
manufacturers would choose to move all
production facilities in response to
amended energy conservation
standards. The higher margins and
profit earned in this market also make
it more likely that manufacturers could
earn a return on the investments
required to reach the amended energy
conservation standards and invest in
existing facilities rather than move
production abroad.
emcdonald on DSK5VPTVN1PROD with RULES3
c. Impacts on Manufacturing Capacity
Manufacturers indicated that design
changes involving thicker walls or
multiple VIP panels would require
substantial changes to their current
manufacturing process. While these
technologies would require the
purchase of millions of dollars of
production equipment, most
manufacturers indicated they would
likely be able to make even these
substantial changes in between the
announcement of the final rule and
compliance date of an amended energy
conservation standard. Manufacturers
have had experience with the design
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options involving VIPs (even if not at
the scale that would be required if the
higher efficiency levels were adopted)
and thickening walls. In addition, the
design changes and investments
analyzed at the levels required by the
amended energy conservation standards
for most product classes are more
similar in magnitude to the introduction
of a new product line—rather than
complete redesigning of all products.
Therefore, a larger capacity concern of
manufacturers is the ability of their
suppliers, particularly manufacturers of
VIPs and more efficient compressors, to
ramp up production in time to meet the
amended energy conservation standard.
d. Impacts on Sub-Group(s) of
Manufacturers
For this rulemaking, DOE used the
results of the industry characterization
to identify any subgroups of refrigerator
manufacturers that exhibit similar
characteristics different from the
industry as a whole. The only such
subgroup DOE identified was built-in
manufacturers. DOE is establishing
separate product classes for built-in
products and is presenting separate
analytical results for those products
classes. Therefore, the MIA results DOE
presents for those product classes
already allow DOE to examine the MIA
impacts on these manufacturers. Section
0 presents a more detailed discussion of
the results for built-in product classes.
e. Cumulative Regulatory Burden
While any one regulation may not
impose a significant burden on
manufacturers, the combined effects of
several impending regulations may have
serious consequences for some
manufacturers, groups of manufacturers,
or an entire industry. Assessing the
impact of a single regulation may
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overlook this cumulative regulatory
burden. In addition to energy
conservation standards, other
regulations can significantly affect
manufacturers’ financial health.
Multiple regulations affecting the same
manufacturer can strain profits and can
lead companies to abandon product
lines or markets with lower expected
future returns than competing products.
For these reasons, DOE conducts an
analysis of cumulative regulatory
burden as part of its rulemakings
pertaining to appliance efficiency.
During previous stages of this
rulemaking DOE identified a number of
requirements with which manufacturers
of these refrigeration products must
comply and which take effect within
three years of the anticipated effective
date of the amended standards. DOE
discusses these and other requirements,
and includes the full details of the
cumulative regulatory burden, in
chapter 12 of the final rule’s TSD. In
chapter 12, DOE shows that many of the
same products produced by residential
refrigeration product manufacturers are
also regulated by DOE and have a
compliance date within 3 years of the
compliance date of this rulemaking.
3. National Impact Analysis
a. Significance of Energy Savings
To estimate the national energy
savings attributable to potential
standards for refrigeration products,
DOE compared the energy consumption
of these products under the base case to
their anticipated energy consumption
under each TSL. Table VI–35 through
Table VI–38 present DOE’s forecasts of
the national energy savings for each
TSL, which were calculated using the
approach described in section IV.G.
Chapter 10 of the final rule TSD
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presents tables that also show the
magnitude of the energy savings if the
savings are discounted at rates of seven
and three percent. Discounted energy
savings represent a policy perspective in
which energy savings realized farther in
the future are less significant than
energy savings realized in the nearer
term.
TABLE VI.35—STANDARD-SIZE REFRIGERATOR-FREEZERS: CUMULATIVE NATIONAL ENERGY SAVINGS IN QUADS
Top-mount refrigerator-freezers and
all-refrigerators
Bottom-mount refrigerator-freezers
Side-by-side refrigerator-freezers
Product classes 1,
1A, 2, 3, 3A, 3I
and 6
Product classes 5,
5A, and 5I
Product classes 4,
4I, and 7
1.73
1.73
2.22
2.67
3.11
0.10
0.10
0.10
0.48
0.70
0.58
0.95
0.95
1.30
1.50
Trial standard level
1
2
3
4
5
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
TABLE VI.36—STANDARD-SIZE FREEZERS: CUMULATIVE NATIONAL ENERGY SAVINGS IN QUADS
Upright freezers
1
2
3
4
5
Chest freezers
Product classes 8, 9
and 9I
Trial standard level
Product classes 10
and 10A
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
0.49
0.75
0.87
0.98
1.01
0.31
0.38
0.46
0.53
0.60
TABLE VI.37—COMPACT REFRIGERATION PRODUCTS: CUMULATIVE NATIONAL ENERGY SAVINGS IN QUADS
Compact refrigerators
Product classes 11,
11A, 12, 13, 13I, 13A,
14, 14I, 15 and 15I
Trial standard level
1
2
3
4
5
Compact freezers
Product classes
16, 17, 18
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
0.28
0.35
0.39
0.48
0.51
0.03
0.03
0.04
0.07
0.09
TABLE VI.38—BUILT-IN REFRIGERATION PRODUCTS: CUMULATIVE NATIONAL ENERGY SAVINGS IN QUADS
Built-in all
refrigerators
Built-in bottommount refrigeratorfreezers
Built-in side-by-side
refrigerator-freezers
Built-in upright
freezers
Product class
3A–BI
Product classes
5–BI and 5I–BI
Product classes
4–BI, 4I–BI and
7–BI
Product classes
9–BI and 9I–BI
Trial standard level
emcdonald on DSK5VPTVN1PROD with RULES3
1
2
3
4
5
.......................................................................................
.......................................................................................
.......................................................................................
.......................................................................................
.......................................................................................
b. Net Present Value of Consumer Costs
and Benefits
DOE estimated the cumulative NPV to
the Nation of the total costs and savings
for consumers that would result from
particular standard levels for
refrigeration products. In accordance
with the OMB’s guidelines on regulatory
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0.00
0.01
0.01
0.01
0.01
0.00
0.00
0.00
0.02
0.02
analysis (OMB Circular A–4, section E,
September 17, 2003), DOE calculated
NPV using both a 7-percent and a 3percent real discount rate. The 7-percent
rate is an estimate of the average beforetax rate of return on private capital in
the U.S. economy and reflects the
returns on real estate and small business
capital as well as corporate capital. DOE
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0.01
0.01
0.03
0.03
0.04
0.00
0.01
0.01
0.01
0.02
used this discount rate to approximate
the opportunity cost of capital in the
private sector, since a recent OMB
analysis has found the average rate of
return on capital to be near this rate. See
https://www.whitehouse.gov/omb/
circulars_a004_a-4/. In addition, DOE
used the 3-percent rate to capture the
potential effects of standards on private
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consumption (e.g., through higher prices
for products and the purchase of
reduced amounts of energy). This rate
represents the rate at which society
discounts future consumption flows to
their present value. It can be
approximated by the real rate of return
on long-term government debt (i.e. yield
on Treasury notes minus annual rate of
change in the Consumer Price Index),
which has averaged about 3 percent on
a pre-tax basis for the last 30 years.
Table VI–39 through Table VI–46
show the default consumer NPV results
57583
for each TSL DOE considered for
refrigeration products, using both a 7percent and a 3-percent discount rate. In
each case, the impacts cover the lifetime
of products purchased in 2014–2043.
See chapter 10 of the final rule TSD for
more detailed NPV results.
TABLE VI.39—CUMULATIVE NET PRESENT VALUE OF CONSUMER BENEFITS FOR STANDARD-SIZE REFRIGERATORFREEZERS, 3-PERCENT DISCOUNT RATE
Billion 2009 dollars
Top-mount refrigerator-freezers and
all-refrigerators
1
2
3
4
5
Bottom-mount refrigerator-freezers
Side-by-side refrigerator-freezers
Product classes 1,
1A, 2, 3, 3A, 3I
and 6
Trial standard level
Product classes 5,
5A, and 5I
Product classes 4,
4I, and 7
11.45
11.45
12.91
9.11
1.87
0.94
0.94
0.94
(0.47)
(2.52)
5.43
6.34
6.34
3.52
0.83
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
TABLE VI.40—CUMULATIVE NET PRESENT VALUE OF CONSUMER BENEFITS FOR STANDARD-SIZE REFRIGERATORFREEZERS, 7-PERCENT DISCOUNT RATE
Billion 2009 dollars
Top-mount refrigerator-freezers and
all-refrigerators
1
2
3
4
5
Bottom-mount refrigerator-freezers
Side-by-side refrigerator-freezers
Product classes 1,
1A, 2, 3, 3A, 3I
and 6
Trial standard level
Product classes 5,
5A, and 5I
Product classes 4,
4I, and 7
2.99
2.99
2.81
(0.31)
(5.28)
0.34
0.34
0.34
(1.17)
(2.74)
1.88
1.67
1.67
(0.60)
(2.53)
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
TABLE VI.41—CUMULATIVE NET PRESENT VALUE OF CONSUMER BENEFITS FOR STANDARD-SIZE FREEZERS, 3-PERCENT
DISCOUNT RATE
Billion 2009 dollars
Upright freezers
1
2
3
4
5
Chest freezers
Product classes 8, 9
and 9I
Trial standard level
Product classes 10
and 10A
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
5.03
7.37
7.69
7.51
5.17
3.25
3.33
3.94
3.52
2.42
emcdonald on DSK5VPTVN1PROD with RULES3
TABLE VI.42—CUMULATIVE NET PRESENT VALUE OF CONSUMER BENEFITS FOR STANDARD-SIZE FREEZERS, 7-PERCENT
DISCOUNT RATE
Billion 2009 dollars
Upright freezers
Chest freezers
Product classes 8, 9
and 9I
Trial standard level
Product classes 10
and 10A
1 ...............................................................................................................................................
2 ...............................................................................................................................................
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TABLE VI.42—CUMULATIVE NET PRESENT VALUE OF CONSUMER BENEFITS FOR STANDARD-SIZE FREEZERS, 7-PERCENT
DISCOUNT RATE—Continued
Billion 2009 dollars
Upright freezers
Chest freezers
Product classes 8, 9
and 9I
Trial standard level
Product classes 10
and 10A
3 ...............................................................................................................................................
4 ...............................................................................................................................................
5 ...............................................................................................................................................
2.30
1.96
0.56
1.12
0.75
(0.04)
TABLE VI.43—CUMULATIVE NET PRESENT VALUE OF CONSUMER BENEFITS FOR COMPACT REFRIGERATION PRODUCTS, 3PERCENT DISCOUNT RATE
Billion 2009 dollars
Compact freezers
Compact refrigerators
Trial standard level
Product classes
16, 17,
18
Product classes 11,
11A, 12, 13, 13I, 13A,
14, 14I, 15 and 15I
1
2
3
4
5
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
1.61
1.42
1.62
0.81
(1.86)
0.20
0.20
0.21
(0.01)
(0.48)
TABLE VI.44—CUMULATIVE NET PRESENT VALUE OF CONSUMER BENEFITS FOR COMPACT REFRIGERATION PRODUCTS, 7PERCENT DISCOUNT RATE
Billion 2009 dollars
Compact freezers
Compact refrigerators
Trial standard level
Product classes
16, 17,
18
Product classes 11,
11A, 12, 13, 13I, 13A,
14, 14I, 15 and 15I
1
2
3
4
5
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
...............................................................................................................................................
0.67
0.51
0.59
0.08
(1.44)
0.09
0.09
0.08
(0.07)
(0.36)
TABLE VI.45—CUMULATIVE NET PRESENT VALUE OF CONSUMER BENEFITS FOR BUILT-IN REFRIGERATION PRODUCTS, 3PERCENT DISCOUNT RATE
Billion 2009 dollars
Built-in all
refrigerators
emcdonald on DSK5VPTVN1PROD with RULES3
1
2
3
4
5
Built-in bottommount refrigeratorfreezers
Built-in side-by-side
refrigerator-freezers
Built-in upright
freezers
Product class
3A–BI
Trial standard level
Product classes
5–BI and 5I–BI
Product classes
4–BI, 4I–BI and
7–BI
Product classes
9–BI and 9I–BI
.......................................................................................
.......................................................................................
.......................................................................................
.......................................................................................
.......................................................................................
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0.05
0.02
(0.04)
(0.08)
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0.01
0.01
(0.20)
(0.31)
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0.06
(0.17)
(0.17)
(0.43)
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57585
TABLE VI.46—CUMULATIVE NET PRESENT VALUE OF CONSUMER BENEFITS FOR BUILT-IN REFRIGERATION PRODUCTS, 7PERCENT DISCOUNT RATE
Billion 2009 dollars
Built-in all
refrigerators
1
2
3
4
5
Built-in bottommount refrigeratorfreezers
Built-in side-by-side
refrigerator-freezers
Built-in upright
freezers
Product class
3A–BI
Trial standard level
Product classes
5–BI and 5I–BI
Product classes
4–BI, 4I–BI and
7–BI
Product classes
9–BI and 9I–BI
.......................................................................................
.......................................................................................
.......................................................................................
.......................................................................................
.......................................................................................
The NPV results presented above are
based on a product price trend that
reflects the default price trend. As
discussed in section IV.G.3, DOE
investigated the impact of different
price trends on the NPV for the
considered TSLs. DOE selected a high
price decline case and a low price
decline case from among a number of
0.01
0.02
0.00
(0.04)
(0.07)
0.01
0.00
0.00
(0.14)
(0.21)
price trends that it analyzed. Table
VI.47 through Table VI.54 provide the
annualized NPV of consumer benefits at
7-percent and 3-percent discount rates,
combined with the annualized present
value of monetized benefits from CO2
and NOX emissions reductions, for each
of the considered TSLs for the default
price trend and the two sensitivity
0.02
0.02
(0.16)
(0.16)
(0.32)
0.02
0.02
0.00
0.00
(0.02)
cases. (DOE’s method for annualization
is described in section VI.C.5 of this
notice. Section VI.B.6 provides a
complete description and summary of
the monetized benefits from CO2 and
NOX emissions reductions.) For details
on the combined NPV results, see
appendix 10–C of the final rule TSD.
TABLE VI.47—STANDARD-SIZE REFRIGERATOR-FREEZERS: ANNUALIZED NET PRESENT VALUE OF CONSUMER BENEFITS
(7-PERCENT DISCOUNT RATE) AND ANNUALIZED PRESENT VALUE OF MONETIZED BENEFITS FROM CO2 AND NOX
EMISSIONS REDUCTIONS * FOR PRODUCTS SHIPPED IN 2014–2043
Billion 2009$
Trial standard level
1
2
3
4
5
Medium price
decline (default)
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
High price decline
0.825
0.845
0.881
0.288
(0.507)
0.902
0.948
1.017
0.593
(0.029)
Low price decline
0.726
0.715
0.708
(0.100)
(1.114)
Parentheses indicate negative (¥) values.
* The economic benefits from reduced CO2 emissions were calculated using a SCC value of $22.1/metric ton in 2010 (in 2009$) for CO2, increasing at 3% per year, and a discount rate of 3%. The economic benefits from reduced NOX emissions were calculated using a value of
$2,519/ton (in 2009$), which is the average of the low and high values used in DOE’s analysis, and a 7-percent discount rate.
TABLE VI.48—STANDARD-SIZE REFRIGERATOR-FREEZERS: ANNUALIZED NET PRESENT VALUE OF CONSUMER BENEFITS
(3-PERCENT DISCOUNT RATE) AND ANNUALIZED PRESENT VALUE OF MONETIZED BENEFITS FROM CO2 AND NOX
EMISSIONS REDUCTIONS * FOR PRODUCTS SHIPPED IN 2014–2043
Billion 2009$
Trial standard level
emcdonald on DSK5VPTVN1PROD with RULES3
1
2
3
4
5
Medium price
decline (default)
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
High price decline
1.302
1.397
1.537
1.213
0.626
1.389
1.513
1.691
1.560
1.171
Low price decline
1.195
1.255
1.349
0.791
(0.036)
Parentheses indicate negative (¥) values.
* The economic benefits from reduced CO2 emissions were calculated using a SCC value of $22.1/metric ton in 2010 (in 2009$) for CO2, increasing at 3% per year, and a discount rate of 3%. The economic benefits from reduced NOX emissions were calculated using a value of
$2,519/ton (in 2009$), which is the average of the low and high values used in DOE’s analysis, and a 3-percent discount rate.
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TABLE VI.49—STANDARD-SIZE FREEZERS: ANNUALIZED NET PRESENT VALUE OF CONSUMER BENEFITS (7-PERCENT DISCOUNT RATE) AND ANNUALIZED PRESENT VALUE OF MONETIZED BENEFITS FROM CO2 AND NOX EMISSIONS REDUCTIONS * FOR PRODUCTS SHIPPED IN 2014–2043
Billion 2009$
Trial standard level
1
2
3
4
5
Medium price
decline (default)
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
High price decline
0.387
0.482
0.513
0.459
0.239
0.398
0.508
0.550
0.516
0.333
Low price decline
0.372
0.448
0.465
0.387
0.118
* The economic benefits from reduced CO2 emissions were calculated using a SCC value of $22.1/metric ton in 2010 (in 2009$) for CO2, increasing at 3% per year, and a discount rate of 3%. The economic benefits from reduced NOX emissions were calculated using a value of
$2,519/ton (in 2009$), which is the average of the low and high values used in DOE’s analysis, and a 7-percent discount rate.
TABLE VI.50—STANDARD-SIZE FREEZERS: ANNUALIZED NET PRESENT VALUE OF CONSUMER BENEFITS (3-PERCENT DISCOUNT RATE) AND ANNUALIZED PRESENT VALUE OF MONETIZED BENEFITS FROM CO2 AND NOX EMISSIONS REDUCTIONS * FOR PRODUCTS SHIPPED IN 2014–2043
Billion 2009$
Trial standard level
1
2
3
4
5
Medium price
decline (default)
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
High price decline
0.566
0.745
0.822
0.808
0.623
0.579
0.775
0.865
0.873
0.730
Low price decline
0.551
0.708
0.770
0.729
0.492
* The economic benefits from reduced CO2 emissions were calculated using a SCC value of $22.1/metric ton in 2010 (in 2009$) for CO2, increasing at 3% per year, and a discount rate of 3%. The economic benefits from reduced NOX emissions were calculated using a value of
$2,519/ton (in 2009$), which is the average of the low and high values used in DOE’s analysis, and a 3-percent discount rate.
TABLE VI.51—COMPACT REFRIGERATION PRODUCTS: ANNUALIZED NET PRESENT VALUE OF CONSUMER BENEFITS (7PERCENT DISCOUNT RATE) AND ANNUALIZED PRESENT VALUE OF MONETIZED BENEFITS FROM CO2 AND NOX EMISSIONS REDUCTIONS * FOR PRODUCTS SHIPPED IN 2014–2043
Billion 2009$
Trial standard level
1
2
3
4
5
Medium price
decline (default)
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
High price decline
0.105
0.094
0.106
0.045
(0.142)
0.112
0.107
0.122
0.077
(0.083)
Low price decline
0.096
0.077
0.086
0.006
(0.216)
Parentheses indicate negative (¥) values.
* The economic benefits from reduced CO2 emissions were calculated using a SCC value of $22.1/metric ton in 2010 (in 2009$) for CO2, increasing at 3% per year, and a discount rate of 3%. The economic benefits from reduced NOX emissions were calculated using a value of
$2,519/ton (in 2009$), which is the average of the low and high values used in DOE’s analysis, and a 7-percent discount rate.
TABLE VI.52—COMPACT REFRIGERATION PRODUCTS: ANNUALIZED NET PRESENT VALUE OF CONSUMER BENEFITS (3PERCENT DISCOUNT RATE) AND ANNUALIZED PRESENT VALUE OF MONETIZED BENEFITS FROM CO2 AND NOX EMISSIONS REDUCTIONS * FOR PRODUCTS SHIPPED IN 2014–2043
Billion 2009$
emcdonald on DSK5VPTVN1PROD with RULES3
Trial standard level
1
2
3
4
5
Medium price
decline (default)
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
High price decline
0.129
0.124
0.141
0.091
(0.085)
0.137
0.139
0.159
0.127
(0.018)
Low price decline
0.119
0.105
0.119
0.047
(0.166)
Parentheses indicate negative (¥) values.
* The economic benefits from reduced CO2 emissions were calculated using a SCC value of $22.1/metric ton in 2010 (in 2009$) for CO2, increasing at 3% per year, and a discount rate of 3%. The economic benefits from reduced NOX emissions were calculated using a value of
$2,519/ton (in 2009$), which is the average of the low and high values used in DOE’s analysis, and a 3-percent discount rate.
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TABLE VI.53—BUILT-IN REFRIGERATION PRODUCTS: ANNUALIZED NET PRESENT VALUE OF CONSUMER BENEFITS (7-PERCENT DISCOUNT RATE) AND ANNUALIZED PRESENT VALUE OF MONETIZED BENEFITS FROM CO2 AND NOX EMISSIONS
REDUCTIONS * FOR PRODUCTS SHIPPED IN 2014–2043
Billion 2009$
Trial standard level
1
2
3
4
5
Medium price
decline (default)
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
High price decline
0.008
0.009
(0.011)
(0.028)
(0.056)
Low price decline
0.009
0.010
(0.005)
(0.019)
(0.043)
0.008
0.008
(0.018)
(0.040)
(0.074)
Parentheses indicate negative (¥) values.
* The economic benefits from reduced CO2 emissions were calculated using a SCC value of $22.1/metric ton in 2010 (in 2009$) for CO2, increasing at 3% per year, and a discount rate of 3%. The economic benefits from reduced NOX emissions were calculated using a value of
$2,519/ton (in 2009$), which is the average of the low and high values used in DOE’s analysis, and a 7-percent discount rate.
TABLE VI.54—BUILT-IN REFRIGERATION PRODUCTS: ANNUALIZED NET PRESENT VALUE OF CONSUMER BENEFITS (3-PERCENT DISCOUNT RATE) AND ANNUALIZED PRESENT VALUE OF MONETIZED BENEFITS FROM CO2 AND NOX EMISSIONS
REDUCTIONS * FOR PRODUCTS SHIPPED IN 2014–2043
Billion 2009$
Trial standard level
1
2
3
4
5
Medium price
decline (default)
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
...........................................................................................................................
High price decline
0.012
0.015
0.002
(0.013)
(0.036)
Low price decline
0.013
0.016
0.008
(0.002)
(0.021)
0.012
0.014
(0.006)
(0.025)
(0.056)
Parentheses indicate negative (¥) values.
* The economic benefits from reduced CO2 emissions were calculated using a SCC value of $22.1/metric ton in 2010 (in 2009$) for CO2, increasing at 3% per year, and a discount rate of 3%. The economic benefits from reduced NOX emissions were calculated using a value of
$2,519/ton (in 2009$), which is the average of the low and high values used in DOE’s analysis, and a 3-percent discount rate.
c. Indirect Impacts on Employment
DOE develops estimates of the
indirect employment impacts of
potential standards on the economy in
general. As discussed above, DOE
expects amended energy conservation
standards for refrigeration products to
reduce energy bills for consumers and
the resulting net savings to be redirected
to other forms of economic activity.
These expected shifts in spending and
economic activity could affect the
demand for labor. As described in
section IV.J, above, to estimate these
effects, DOE used an input/output
model of the U.S. economy. Table VI.55
presents the estimated net indirect
employment impacts in 2020 and 2043
for the TSLs that DOE considered in this
rulemaking. Chapter 13 of the final rule
TSD presents more detailed results.
TABLE VI.55—NET INCREASE IN JOBS FROM INDIRECT EMPLOYMENT EFFECTS UNDER REFRIGERATION PRODUCT TSLS
Thousands
emcdonald on DSK5VPTVN1PROD with RULES3
TSL 1
Standard-Size Refrigerator-Freezers:
2020 ..............................................................................
2043 ..............................................................................
Standard-Size Freezers:
2020 ..............................................................................
2043 ..............................................................................
Compact Refrigeration Products:
2020 ..............................................................................
2043 ..............................................................................
Built-In Refrigeration Products:
2020 ..............................................................................
2043 ..............................................................................
The input/output model suggests that
today’s amended standards are likely to
increase the net demand for labor in the
economy. However, the model suggests
that the projected gains are very small
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TSL 3
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2.35
16.24
2.34
18.45
2.33
21.33
¥0.06
26.31
¥3.18
28.85
0.93
5.18
1.06
7.24
1.06
8.38
0.82
9.19
¥0.05
9.12
0.51
1.44
0.52
1.64
0.60
1.88
0.50
2.02
¥0.04
1.53
0.02
0.14
0.02
0.19
¥0.05
0.29
¥0.11
0.31
¥0.21
¥0.30
relative to total national employment
(currently approximately 120 million).
Moreover, neither the BLS data nor the
input/output model DOE uses includes
the quality or wage level of the jobs.
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Therefore, because the analysis
indicates an increased demand for labor
would likely result from the amended
energy conservation standards in this
rulemaking, DOE has concluded that the
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amended standards are likely to
produce employment benefits sufficient
to offset fully any adverse impacts on
employment in the manufacturing
industry for the refrigeration products
that are the subject of this rulemaking.
refrigeration products that meet or
exceed the amended standards for most
of the product classes. (42 U.S.C.
6295(o)(2)(B)(i)(IV))
4. Impact on Utility or Performance of
Products
DOE has also considered any
lessening of competition that is likely to
result from amended standards. The
Attorney General determines the
impact, if any, of any lessening of
competition likely to result from an
amended standard, and transmits such
determination to the Secretary, together
with an analysis of the nature and
extent of such impact. (42 U.S.C.
6295(o)(2)(B)(i)(V) and (B)(ii))
To assist the Attorney General in
making such determination, DOE has
provided DOJ with copies of this final
As presented in section III.D.1.d of
this notice, DOE concluded that none of
the TSLs considered in this notice
would substantially reduce the utility or
performance of the products under
consideration in this rulemaking.
However, the availability of features that
increase energy use, such as multiple
drawers, might shift to higher-price
products because the cost premium for
implementing such features will likely
increase. Manufacturers currently offer
5. Impact of Any Lessening of
Competition
rule and the TSD for review. As
indicated earlier, DOE did not receive
comments from DOJ. Accordingly, DOE
does not believe that there is likely to
be any lessening of competition as a
result of today’s final rule.
6. Need of the Nation To Conserve
Energy
An improvement in the energy
efficiency of the products subject to
today’s rule is likely to improve the
security of the Nation’s energy system
by reducing overall demand for energy.
Reduced electricity demand may also
improve the reliability of the electricity
system. As a measure of this reduced
demand, Table VI–56 presents the
estimated reduction in generating
capacity in 2043 for the TSLs that DOE
considered in this rulemaking.
TABLE VI.56—REDUCTION IN ELECTRIC GENERATING CAPACITY IN 2043 UNDER REFRIGERATION PRODUCT TSLS
Gigawatts
TSL 1
Standard-Size Refrigerator-Freezers .........................
Standard-Size Freezers .............................................
Compact Refrigeration Products ................................
Built-In Refrigeration Products ...................................
DOE used NEMS–BT to assess the
impacts on electricity prices of the
reduced need for new electric power
plants and infrastructure projected to
result from standards. The projected
impacts on prices, and their value to
electricity consumers, are presented in
chapter 14 and chapter 10, respectively,
of the final rule TSD. Although the
aggregate benefits for all electricity users
are potentially large, there may be
negative effects on the actors involved
in electricity supply. Because there is
uncertainty about the extent to which
the calculated impacts from reduced
electricity prices would be a transfer
from the actors involved in electricity
TSL 2
2.62
0.83
0.273
0.021
TSL 3
3.03
0.83
0.335
0.031
supply to electricity consumers, DOE
has concluded that, at present, it should
not assign a heavy weight to this factor
in considering the economic
justification of standards on
refrigeration products.
Energy savings from amended
standards for refrigeration products
could also produce environmental
benefits in the form of reduced
emissions of air pollutants and
greenhouse gases associated with
electricity production. Table VI.57
provides DOE’s estimate of cumulative
CO2, NOX, and Hg emissions reductions
projected to result from the TSLs
considered in this rulemaking. DOE
TSL 4
3.56
1.40
0.386
0.062
TSL 5
4.86
1.59
0.480
0.077
5.82
1.71
0.511
0.092
reports annual CO2, NOX, and Hg
emissions reductions for each TSL in
chapter 15 of the final rule TSD.
As discussed in section V.M, DOE did
not report SO2 emissions reductions
from power plants because there is
uncertainty about the effect of energy
conservation standards on the overall
level of SO2 emissions in the United
States due to SO2 emissions caps. DOE
also did not include NOX emissions
reduction from power plants in States
subject to CAIR because an energy
conservation standard would not affect
the overall level of NOX emissions in
those States due to the emissions caps
mandated by CAIR.
TABLE VI.57—SUMMARY OF EMISSIONS REDUCTION ESTIMATED FOR REFRIGERATION PRODUCT TSLS
[Cumulative for 2014 through 2043]
emcdonald on DSK5VPTVN1PROD with RULES3
TSL 1
Standard-Size Refrigerator-Freezers:
CO2 (Mt) ..............................................................
NOX (1000 tons) .................................................
Hg (tons) .............................................................
Standard-Size Freezers:
CO2 (Mt) ..............................................................
NOX (1000 tons) .................................................
Hg (tons) .............................................................
Compact Refrigeration Products:
CO2 (Mt) ..............................................................
NOX (1000 tons) .................................................
Hg (tons) .............................................................
Built-In Refrigeration Products:
CO2 (Mt) ..............................................................
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TSL 3
TSL 4
TSL 5
175
141
0.79
238
191
1.07
323
260
1.45
386
310
1.73
54
43
0.24
77
62
0.34
91
73
0.41
103
83
0.47
110
89
0.50
20
16
0.10
24
20
0.12
28
23
0.15
35
29
0.19
39
32
0.21
1.41
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162
0.91
2.05
4.10
5.09
6.09
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57589
TABLE VI.57—SUMMARY OF EMISSIONS REDUCTION ESTIMATED FOR REFRIGERATION PRODUCT TSLS—Continued
[Cumulative for 2014 through 2043]
TSL 1
NOX (1000 tons) .................................................
Hg (tons) .............................................................
As part the analysis for this final rule,
DOE estimated monetary benefits likely
to result from the reduced emissions of
CO2 and NOX that DOE estimated for
each of the TSLs considered. As
discussed in section IV.M, DOE used
values for the SCC developed by an
interagency process. The four values for
CO2 emissions reductions resulting from
that process (expressed in 2009$) are
$4.9/ton (the average value from a
distribution that uses a 5-percent
discount rate), $22.1/ton (the average
TSL 2
1.14
0.01
TSL 3
1.65
0.01
value from a distribution that uses a 3percent discount rate), $36.3/ton (the
average value from a distribution that
uses a 2.5-percent discount rate), and
$67.1/ton (the 95th-percentile value
from a distribution that uses a 3-percent
discount rate). These values correspond
to the value of emission reductions in
2010; the values for later years are
higher due to increasing damages as the
magnitude of climate change increases.
Table VI–58 through Table VI–61
present the global values of CO2
TSL 4
3.30
0.02
TSL 5
4.09
0.02
4.90
0.03
emissions reductions at each TSL. For
each of the four cases, DOE calculated
a present value of the stream of annual
values using the same discount rate as
was used in the studies upon which the
dollar-per-ton values are based. DOE
calculated domestic values as a range
from 7 percent to 23 percent of the
global values, and these results are
presented in Table VI–62 through Table
VI–65.
TABLE VI.58—STANDARD-SIZE REFRIGERATOR-FREEZERS: ESTIMATES OF GLOBAL PRESENT VALUE OF CO2 EMISSIONS
REDUCTION UNDER TRIAL STANDARD LEVELS
Billion 2009$
TSL
1
2
3
4
5
5% discount rate,
average *
3% discount rate,
average *
1.45
1.67
1.96
2.68
3.20
4.60
5.31
6.24
8.51
10.18
.......................................................................................................
.......................................................................................................
.......................................................................................................
.......................................................................................................
.......................................................................................................
2.5% discount
rate, average *
6.90
7.96
9.36
12.76
15.26
3% discount rate,
95th percentile *
14.0
16.16
19.00
25.90
30.98
* Columns are labeled by the discount rate used to calculate the SCC and whether it is an average value or drawn from a different part of the
distribution. Values presented in the table incorporate the escalation of the SCC over time.
TABLE VI.59—STANDARD-SIZE FREEZERS: ESTIMATES OF GLOBAL PRESENT VALUE OF CO2 EMISSIONS REDUCTION
UNDER TRIAL STANDARD LEVELS
Billion 2009$
TSL
1
2
3
4
5
5% discount rate,
average *
3% discount rate,
average *
0.48
0.69
0.81
0.92
0.98
1.51
2.16
2.55
2.89
3.09
.......................................................................................................
.......................................................................................................
.......................................................................................................
.......................................................................................................
.......................................................................................................
2.5% discount
rate, average *
3% discount rate,
95th percentile *
2.25
3.24
3.81
4.32
4.62
4.58
6.59
7.76
8.80
9.41
* Columns are labeled by the discount rate used to calculate the SCC and whether it is an average value or drawn from a different part of the
distribution. Values presented in the table incorporate the escalation of the SCC over time.
TABLE VI.60—COMPACT REFRIGERATION PRODUCTS: ESTIMATES OF GLOBAL PRESENT VALUE OF CO2 EMISSIONS
REDUCTION UNDER TRIAL STANDARD LEVELS
Billion 2009$
emcdonald on DSK5VPTVN1PROD with RULES3
TSL
1
2
3
4
5
5% discount rate,
average *
3% discount rate,
average *
0.12
0.15
0.18
0.22
0.24
0.41
0.51
0.59
0.74
0.81
.......................................................................................................
.......................................................................................................
.......................................................................................................
.......................................................................................................
.......................................................................................................
2.5% discount
rate, average *
0.63
0.77
0.89
1.12
1.23
3% discount rate,
95th percentile *
1.26
1.54
1.79
2.25
2.47
* Columns are labeled by the discount rate used to calculate the SCC and whether it is an average value or drawn from a different part of the
distribution. Values presented in the table incorporate the escalation of the SCC over time.
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TABLE VI.61—BUILT-IN REFRIGERATION PRODUCTS: ESTIMATES OF GLOBAL PRESENT VALUE OF CO2 EMISSIONS
REDUCTION UNDER TRIAL STANDARD LEVELS
Billion 2009$
TSL
1
2
3
4
5
5% discount rate,
average *
3% discount rate,
average *
0.012
0.017
0.035
0.043
0.051
0.038
0.055
0.11
0.014
0.16
...................................................................................................
...................................................................................................
...................................................................................................
...................................................................................................
...................................................................................................
2.5% discount
rate, average *
3% discount rate,
95th percentile *
0.057
0.083
0.17
0.20
0.24
0.12
0.17
0.34
0.41
0.50
* Columns are labeled by the discount rate used to calculate the SCC and whether it is an average value or drawn from a different part of the
distribution. Values presented in the table incorporate the escalation of the SCC over time.
TABLE VI.62—STANDARD-SIZE REFRIGERATOR-FREEZERS: ESTIMATES OF DOMESTIC PRESENT VALUE OF CO2 EMISSIONS
REDUCTION UNDER TRIAL STANDARD LEVELS
Billion 2009$ *
TSL
1
2
3
4
5
.........................................
.........................................
.........................................
.........................................
.........................................
5% discount rate, average **
0.10
0.12
0.14
0.19
0.22
to
to
to
to
to
0.33
0.38
0.45
0.62
0.74
.......................
.......................
.......................
.......................
.......................
3% discount rate, average **
0.32
0.37
0.44
0.60
0.71
to
to
to
to
to
1.06
1.22
1.44
1.96
2.34
.......................
.......................
.......................
.......................
.......................
2.5% discount rate, average **
0.48
0.56
0.66
0.89
1.07
to
to
to
to
to
1.59
1.83
2.15
2.93
3.51
.......................
.......................
.......................
.......................
.......................
3% discount rate, 95th
percentile **
0.98
1.13
1.33
1.81
2.17
to
to
to
to
to
3.22.
3.72.
4.37.
5.96.
7.13.
* Domestic values are presented as a range between 7% and 23% of the global values.
** Columns are labeled by the discount rate used to calculate the SCC and whether it is an average value or drawn from a different part of the
distribution. Values presented in the table incorporate the escalation of the SCC over time.
TABLE VI.63—STANDARD-SIZE FREEZERS: ESTIMATES OF DOMESTIC PRESENT VALUE OF CO2 EMISSIONS REDUCTION
UNDER TRIAL STANDARD LEVELS
Billion 2009$ *
TSL
1
2
3
4
5
.........................................
.........................................
.........................................
.........................................
.........................................
5% discount rate, average **
0.033
0.048
0.057
0.064
0.069
to
to
to
to
to
0.11
0.16
0.19
0.21
0.23
.....................
.....................
.....................
.....................
.....................
3% discount rate, average **
2.5% discount rate, average **
0.11 to 0.35 .......................
0.15 to 0.50 .......................
0.057 to 0.19 .....................
0.20 to 0.67 .......................
0.22 to 0.71 .......................
0.16 to 0.52 .......................
0.23 to 0.74 .......................
0.057 to 0.19 .....................
0.30 to 0.99 .......................
0.32 to 1.06 .......................
3% discount rate, 95th
percentile **
0.32 to 1.05.
0.46 to 1.51.
0.057 to 0.19.
0.62 to 2.02.
0.069 to 0.23.
* Domestic values are presented as a range between 7% and 23% of the global values.
** Columns are labeled by the discount rate used to calculate the SCC and whether it is an average value or drawn from a different part of the
distribution. Values presented in the table incorporate the escalation of the SCC over time.
TABLE VI.64—COMPACT REFRIGERATION PRODUCTS: ESTIMATES OF DOMESTIC PRESENT VALUE OF CO2 EMISSIONS
REDUCTION UNDER TRIAL STANDARD LEVELS
Billion 2009$ *
emcdonald on DSK5VPTVN1PROD with RULES3
TSL
1
2
3
4
5
.........................................
.........................................
.........................................
.........................................
.........................................
5% discount rate, average **
0.0087 to 0.029 .................
0.011 to 0.035 ...................
0.012 to 0.041 ...................
0.016 to 0.051 ...................
0.017 to 0.056 ...................
3% discount rate, average **
0.029
0.035
0.041
0.052
0.057
to
to
to
to
to
0.095 ...................
0.12 .....................
0.14 .....................
0.17 .....................
0.19 .....................
2.5% discount rate, average **
0.044
0.054
0.062
0.078
0.086
to
to
to
to
to
0.14
0.18
0.21
0.26
0.28
.....................
.....................
.....................
.....................
.....................
3% discount rate, 95th
percentile **
0.09
0.11
0.13
0.16
0.17
to
to
to
to
to
0.29.
0.36.
0.41.
0.52.
0.57.
* Domestic values are presented as a range between 7% and 23% of the global values.
** Columns are labeled by the discount rate used to calculate the SCC and whether it is an average value or drawn from a different part of the
distribution. Values presented in the table incorporate the escalation of the SCC over time.
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
TABLE VI.65—BUILT-IN REFRIGERATION PRODUCTS: ESTIMATES OF DOMESTIC PRESENT VALUE OF CO2 EMISSIONS
REDUCTION UNDER TRIAL STANDARD LEVELS
Billion 2009$ *
TSL
1
2
3
4
5
.........................................
.........................................
.........................................
.........................................
.........................................
5% discount rate, average **
3% discount rate, average **
2.5% discount rate, average **
0.00083 to 0.0027 .............
0.0012 to 0.0040 ...............
0.0024 to 0.0080 ...............
0.0030 to 0.010 .................
0.0036 to 0.012 .................
0.0026 to 0.0087 ...............
0.0039 to 0.013 .................
0.0077 to 0.025 .................
0.010 to 0.031 ...................
0.011 to 0.037 ...................
0.0040 to 0.013 .................
0.0058 to 0.019 .................
0.012 to 0.038 ...................
0.014 to 0.047 ...................
0.017 to 0.056 ...................
3% discount rate, 95th
percentile **
0.0081 to 0.026.
0.012 to 0.039.
0.023 to 0.077.
0.029 to 0.10.
0.035 to 0.11.
* Domestic values are presented as a range between 7% and 23% of the global values.
** Columns are labeled by the discount rate used to calculate the SCC and whether it is an average value or drawn from a different part of the
distribution. Values presented in the table incorporate the escalation of the SCC over time.
DOE is well aware that scientific and
economic knowledge about the
contribution of CO2 and other GHG
emissions to changes in the future
global climate and the potential
resulting damages to the world economy
continues to evolve rapidly. Thus, any
value placed in this rulemaking on
reducing CO2 emissions is subject to
change. DOE, together with other
Federal agencies, will continue to
review various methodologies for
estimating the monetary value of
reductions in CO2 and other GHG
emissions. This ongoing review will
consider the comments on this subject
that are part of the public record for this
and other rulemakings, as well as other
methodological assumptions and issues.
However, consistent with DOE’s legal
obligations, and taking into account the
uncertainty involved with this
particular issue, DOE has included in
this final rule the most recent values
and analyses resulting from the ongoing
interagency review process.
DOE also estimated a range for the
cumulative monetary value of the
economic benefits associated with NOX
emissions reductions anticipated to
result from amended standards for
refrigeration products. The dollar-perton values that DOE used are discussed
in section IV.M. Table VI.66 presents
the cumulative present values for each
TSL calculated using seven-percent and
three-percent discount rates.
TABLE VI.66—ESTIMATES OF PRESENT VALUE OF NOX EMISSIONS REDUCTION UNDER REFRIGERATION PRODUCT TRIAL
STANDARD LEVELS
Billion 2009$
TSL 1
Standard-Size RefrigeratorFreezers:
7% discount rate .................
3% discount rate .................
Standard-Size Freezers:
7% discount rate .................
3% discount rate .................
Compact Refrigeration Products:
7% discount rate .................
3% discount rate .................
Built-In Refrigeration Products:
7% discount rate .................
3% discount rate .................
TSL 2
TSL 3
TSL 4
0.018 to 0.18 .........
0.044 to 0.45 .........
0.020 to 0.21 .........
0.051 to 0.52 .........
0.024 to 0.25 .........
0.060 to 0.62 .........
0.033 to 0.34 .........
0.082 to 0.84 .........
0.039 to 0.40.
0.097 to 1.00.
0.0055 to 0.056 .....
0.014 to 0.15 .........
0.008 to 0.081 .......
0.020 to 0.21 .........
0.009 to 0.095 .......
0.024 to 0.25 .........
0.011 to 0.107 .......
0.027 to 0.28 .........
0.011 to 0.12.
0.029 to 0.30.
0.002 to 0.021 .......
0.004 to 0.044 .......
0.003 to 0.026 .......
0.005 to 0.054 .......
0.003 to 0.030 .......
0.006 to 0.063 .......
0.004 to 0.038 .......
0.008 to 0.079 .......
0.004 to 0.042.
0.009 to 0.088.
0.000 to 0.002 .......
0.000 to 0.004 .......
0.001 to 0.002 .......
0.001 to 0.005 .......
0.000 to 0.004 .......
0.001 to 0.018 .......
0.001 to 0.005 .......
0.001 to 0.013 .......
0.001 to 0.006.
0.002 to 0.016.
emcdonald on DSK5VPTVN1PROD with RULES3
The NPV of the monetized benefits
associated with emissions reductions
can be viewed as a complement to the
NPV of the consumer savings calculated
for each TSL considered in this
rulemaking. Table VI.67 shows an
example of the calculation of the
combined NPV including benefits from
emissions reductions for the case of TSL
3 for standard-size refrigerator-freezers.
Table VI.68 and Table VI.69 present the
NPV values that would result if DOE
were to add the estimates of the
potential economic benefits resulting
from reduced CO2 and NOX emissions
in each of four valuation scenarios to
TSL 5
the NPV of consumer savings calculated
for each TSL considered in this
rulemaking, at both a seven-percent and
three-percent discount rate. The CO2
values used in the columns of each table
correspond to the four scenarios for the
valuation of CO2 emission reductions
presented in section IV.M.
TABLE VI.67—ADDING NET PRESENT VALUE OF CONSUMER SAVINGS TO PRESENT VALUE OF MONETIZED BENEFITS
FROM CO2 AND NOX EMISSIONS REDUCTIONS AT TSL 3 FOR STANDARD-SIZE REFRIGERATOR-FREEZERS
Present value
billion 2009$
Category
Discount rate
(percent)
14.65
37.41
7
3
Benefits:
Operating Cost Savings .............................................................................................................................
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
TABLE VI.67—ADDING NET PRESENT VALUE OF CONSUMER SAVINGS TO PRESENT VALUE OF MONETIZED BENEFITS
FROM CO2 AND NOX EMISSIONS REDUCTIONS AT TSL 3 FOR STANDARD-SIZE REFRIGERATOR-FREEZERS—Continued
Present value
billion 2009$
Category
CO2 Reduction Monetized Value (at $4.9/t) * .............................................................................................
CO2 Reduction Monetized Value (at $22.1/t) * ...........................................................................................
CO2 Reduction Monetized Value (at $36.3/t) * ...........................................................................................
CO2 Reduction Monetized Value (at $67.1/t) * ...........................................................................................
NOX Reduction Monetized Value (at $2,519/ton) * ....................................................................................
Discount rate
(percent)
1.96
6.24
9.36
19.0
0.136
0.338
21.02
43.99
9.83
17.22
Costs:
Total Incremental Installed Costs ...............................................................................................................
Net Benefits:
Including CO2 and NOX** ...........................................................................................................................
7
3
11.19
26.77
Total Monetary Benefits ** ..........................................................................................................................
5
3
2.5
3
7
3
7
3
7
3
* These values represent global values (in 2009$) of the social cost of CO2 emissions in 2010 under several scenarios. The values of $4.9,
$22.1, and $36.3 per metric ton (t) are the averages of SCC distributions calculated using 5%, 3%, and 2.5% discount rates, respectively. The
value of $67.1/t represents the 95th percentile of the SCC distribution calculated using a 3% discount rate. See section IV.M for details. The
value for NOX (in 2009$) is the average of the low and high values used in DOE’s analysis.
** Total Monetary Benefits for both the 3% and 7% cases utilize the central estimate of social cost of CO2 emissions calculated at a 3% discount rate, which is equal to $22.1/t in 2010 (in 2009$).
TABLE VI.68—ADDING NET PRESENT VALUE OF CONSUMER SAVINGS (AT 7% DISCOUNT RATE) TO PRESENT VALUE OF
MONETIZED BENEFITS FROM CO2 AND NOX EMISSIONS REDUCTIONS AT TRIAL STANDARD LEVELS FOR REFRIGERATION PRODUCTS
Consumer NPV at 7% discount rate added with
SCC Value of
$4.9/metric ton
CO2* and low
value for NOX**
billion 2009$
TSL
1
2
3
4
5
.......................................................................................................
.......................................................................................................
.......................................................................................................
.......................................................................................................
.......................................................................................................
10.92
11.55
11.75
4.20
(7.93)
SCC Value of
$22.1/metric ton
CO2* and
medium value for
NOX**
billion 2009$
SCC Value of
$36.3/metric ton
CO2* and
medium value for
NOX**
billion 2009$
SCC Value of
$67.1/metric ton
CO2* and high
value for NOX**
billion 2009$
15.53
17.20
18.42
12.83
2.08
18.81
21.22
23.17
18.97
9.20
29.06
33.77
37.99
38.14
31.45
* These label values represent the global SCC of CO2 in 2010, in 2009$. Their present values have been calculated with scenario-consistent
discount rates. See section IV.M for a discussion of the derivation of these values.
** Low Value corresponds to $447 per ton of NOX emissions. Medium Value corresponds to $2,519 per ton of NOX emissions. High Value corresponds to $4,591 per ton of NOX emissions.
TABLE VI.69—ADDING NET PRESENT VALUE OF CONSUMER SAVINGS (AT 3% DISCOUNT RATE) TO PRESENT VALUE OF
MONETIZED BENEFITS FROM CO2 AND NOX EMISSIONS REDUCTIONS AT TRIAL STANDARD LEVELS FOR REFRIGERATION PRODUCTS
Consumer NPV at 3% discount rate added with
SCC Value of
$4.9/metric ton
CO2* and low
value for NOX**
billion 2009$
emcdonald on DSK5VPTVN1PROD with RULES3
TSL
1
2
3
4
5
.......................................................................................................
.......................................................................................................
.......................................................................................................
.......................................................................................................
.......................................................................................................
30.20
33.85
36.64
27.59
9.25
SCC Value of
$22.1/metric ton
CO2* and
medium value for
NOX**
billion 2009$
SCC Value of
$36.31/metric ton
CO2* and
medium value for
NOX**
billion 2009$
SCC Value of
$67.1/metric ton
CO2* and high
value for NOX**
billion 2009$
34.99
39.71
43.57
36.56
19.65
38.27
43.73
48.31
42.69
26.76
48.69
56.50
63.39
62.19
49.39
* These label values represent the global SCC of CO2 in 2010, in 2009$. Their present values have been calculated with scenario-consistent
discount rates. See section IV.M for a discussion of the derivation of these values.
** Low Value corresponds to $447 per ton of NOX emissions. Medium Value corresponds to $2,519 per ton of NOX emissions. High Value corresponds to $4,591 per ton of NOX emissions.
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Although adding the value of
consumer savings to the values of
emission reductions provides a valuable
perspective, two issues should be
considered. First, the national operating
savings are domestic U.S. consumer
monetary savings that occur as a result
of market transactions while the value
of CO2 reductions is based on a global
value. Second, the assessments of
operating cost savings and CO2 savings
are performed with different methods
that use quite different time frames for
analysis. The national operating cost
savings is measured for the lifetime of
refrigeration products shipped in 2014–
2043. The SCC values, on the other
hand, reflect the present value of future
climate-related impacts resulting from
the emission of one ton of carbon
dioxide in each year. These impacts
continue well beyond 2100.
emcdonald on DSK5VPTVN1PROD with RULES3
7. Other Factors
The Secretary, in determining
whether a standard is economically
justified, may consider any other factors
that he deems to be relevant. (42 U.S.C.
6295(o)(2)(B)(i)(VI))) DOE is aware of
pending legislation that proposes to
phase out substances with significant
GWP and that HFCs are included in the
list of substances to be phased out. DOE
recognizes the significance that such
legislation would have to the
refrigeration products industry and the
impact it would have on the ability of
manufacturers to meet energy
conservation standards. Given the
uncertainty regarding such legislation,
however, DOE did not factor the impact
of potential HFC limitations in
developing the standard levels
presented in today’s final rule.
DOE has also considered the Joint
Comments submitted to DOE containing
the various recommended standard
levels for refrigeration products. DOE
recognizes the value of consensus
agreements submitted by parties in
accordance with 42 U.S.C. 6295(p)(4)
and has weighed the value of such
consensus in establishing the standards
set forth in today’s final rule.
C. Conclusion
When prescribing new or amended
standards, the standard that DOE adopts
for any type (or class) of covered
product shall be designed to achieve the
maximum improvement in energy
efficiency that the Secretary determines
is technologically feasible and
economically justified. (42 U.S.C.
6295(o)(2)(A)) In determining whether a
standard is economically justified, the
Secretary must determine whether the
benefits of the standard exceed its
burdens to the greatest extent
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practicable, in light of the seven
statutory factors discussed previously.
(42 U.S.C. 6295(o)(2)(B)(i)) The new or
amended standard must also ‘‘result in
significant conservation of energy.’’ (42
U.S.C. 6295(o)(3)(B))
For today’s final rule, DOE considered
the impacts of standards at each trial
standard level, beginning with the
maximum technologically feasible level,
to determine whether that level was
economically justified. Where the maxtech level was not justified, DOE then
considered the next most efficient level
and undertook the same evaluation until
it reached the most efficient level that
is both technologically feasible and
economically justified and saves a
significant amount of energy.
For ease of presentation, DOE
separately discusses the benefits and/or
burdens of each trial standard level for
standard-size refrigerator-freezers,
standard-size freezers, compact
refrigeration products, and built-in
refrigeration products. Tables that
present a summary of the results of
DOE’s quantitative analysis for each
TSL have been provided to aid the
reader as DOE discusses the benefits
and/or burdens of each trial standard
level.
In addition to the quantitative results
presented in the tables, DOE also
considers other burdens and benefits
that affect economic justification. These
include the impacts on identifiable
subgroups of consumers, such as lowincome households and seniors, who
may be disproportionately affected by a
national standard. Section VI.B.1.b
presents the estimated impacts of each
TSL for these subgroups.
DOE notes that the proposed
standards set forth in the Joint
Comments were also carefully
considered by the agency. These
suggested standards, along with the
comments from all interested parties
and the agency’s analytical work
developed in preparation of today’s
final rule, were considered during the
development of the standards being
adopted today.
DOE also notes that the economics
literature provides a wide-ranging
discussion of how consumers trade off
upfront costs and energy savings in the
absence of government intervention.
Much of this literature attempts to
explain why consumers appear to
undervalue energy efficiency
improvements. This undervaluation
suggests that regulation that promotes
energy efficiency can produce
significant net private gains (as well as
producing social gains by, for example,
reducing pollution). There is evidence
that consumers undervalue future
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57593
energy savings as a result of (1) A lack
of information, (2) a lack of sufficient
salience of the long-term or aggregate
benefits, (3) a lack of sufficient savings
to warrant delaying or altering
purchases (e.g. an inefficient ventilation
fan in a new building or the delayed
replacement of a water pump), (4)
excessive focus on the short term, in the
form of inconsistent weighting of future
energy cost savings relative to available
returns on other investments, (5)
computational or other difficulties
associated with the evaluation of
relevant tradeoffs, and (6) a divergence
in incentives (e.g., renter versus
building owner; builder vs. home
buyer). Other literature indicates that
with less than perfect foresight and a
high degree of uncertainty about the
future, consumers may trade off these
types of investments at a higher than
expected rate between current
consumption and uncertain future
energy cost savings.
In DOE’s current regulatory analysis,
potential changes in the benefits and
costs of a regulation due to changes in
consumer purchase decisions are
included in two ways. First, if
consumers forego a purchase of a
product in the standards case, this
decreases sales for product
manufacturers, and the cost to
manufacturers is included in the MIA.
Second, DOE accounts for energy
savings attributable only to products
actually used by consumers in the
standards case; if a regulatory option
decreases the number of products used
by consumers, this decreases the
potential energy savings from an energy
conservation standard. DOE provides
detailed estimates of shipments and
changes in the volume of product
purchases in chapter 9 of the final rule
TSD. However, DOE’s current analysis
does not explicitly control for
heterogeneity in consumer preferences,
preferences across subcategories of
products or specific features, or
consumer price sensitivity variation
according to household income.
While DOE is not prepared at present
to provide a fuller quantifiable
framework for estimating the benefits
and costs of changes in consumer
purchase decisions due to an energy
conservation standard, DOE has posted
a paper that discusses the issue of
consumer welfare impacts of appliance
energy efficiency standards, and
potential enhancements to the
methodology by which these impacts
are defined and estimated in the
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regulatory process.48 DOE is committed
to developing a framework that can
support empirical quantitative tools for
improved assessment of the consumer
welfare impacts of appliance standards.
DOE welcomes comments on how to
more fully assess the potential impact of
energy conservation standards on
consumer choice and how to quantify
this impact in its regulatory analysis in
future rulemakings.
1. Standard-Size Refrigerator-Freezers
Table VI–70 presents a summary of
the quantitative impacts estimated for
each TSL for standard-size refrigeratorfreezers. The efficiency levels contained
in each TSL are described in section
VI.A. The range of results for NPV of
consumer benefits reflects the range of
product price forecasts discussed in
section IV.G.3.
TABLE VI.70—SUMMARY OF RESULTS FOR STANDARD-SIZE REFRIGERATOR-FREEZERS
Category
TSL 1
TSL 2
TSL 3
TSL 4
TSL 5
National Energy Savings (quads) ...........
2.41 ....................
2.78 ....................
3.27 ....................
4.45 ....................
5.30.
16.92 to 22.88 ....
3.173 to 6.104 ....
4.800 to 18.20 ....
(5.756) to 0.804 ..
(11.4) to 9.67.
(16.30) to (6.03).
(784.9) to
(1,309.3).
(29.4) to (49.0) ...
(1,042.2) to
(1,841.5).
(39.0) to (69.0).
323 .....................
260 .....................
1.45 ....................
386.
310.
1.73.
2.68 to 25.9 ........
0.082 to 0.84 ......
0.033 to 0.34 ......
3.20 to 31.0.
0.097 to 1.00.
0.039 to 0.40.
42 .......................
22 .......................
57 .......................
(6) .......................
(53) .....................
(18) .....................
(87).
(136).
(83).
9.5 ......................
4.2 ......................
9.2 ......................
13.3 ....................
21.0 ....................
15.6 ....................
17.8.
24.7.
19.1.
NPV of Consumer Benefits (2009$ billion)
3% discount rate .....................................
7% discount rate .....................................
15.96 to 19.35 ....
4.272 to 5.940 ....
16.26 to 20.76 ....
3.764 to 5.973 ....
Industry Impacts
Industry NPV (2009$ million) ..................
(117.8) to (252.6)
(219.2) to (395.9)
(345.0) to (580.7)
Industry NPV (% change) .......................
(4.4) to (9.5) .......
(8.2) to (14.8) .....
(12.9) to (21.7) ...
Cumulative Emissions Reduction
CO2 (Mt) ..................................................
NOX (1000 tons) .....................................
Hg (tons) .................................................
175 .....................
141 .....................
0.79 ....................
202 .....................
162 .....................
0.91 ....................
238 .....................
191 .....................
1.07 ....................
Value of Cumulative Emissions Reduction
CO2 (2009$ billion) * ...............................
NOX—3% discount rate (2009$ billion) ..
NOX—7% discount rate (2009$ billion) ..
1.45 to 14.0 ........
0.044 to 0.45 ......
0.018 to 0.18 ......
1.67 to 16.2 ........
0.051 to 0.52 ......
0.020 to 0.21 ......
1.96 to 19.0 ........
0.060 to 0.62 ......
0.024 to 0.25 ......
Mean LCC Savings ** (2009$)
Top-Mount Refrigerator-Freezers ...........
Bottom-Mount Refrigerator-Freezers ......
Side-by-Side Refrigerator-Freezers ........
44 .......................
22 .......................
62 .......................
44 .......................
22 .......................
57 .......................
Median PBP (years)
Top-Mount Refrigerator-Freezers ...........
Bottom-Mount Refrigerator-Freezers ......
Side-by-Side Refrigerator-Freezers ........
8.0 ......................
4.2 ......................
4.0 ......................
8.0 ......................
4.2 ......................
9.2 ......................
Distribution of Consumer LCC Impacts
Top-Mount Refrigerator-Freezers:
Net Cost (%) ....................................
No Impact (%) ..................................
Net Benefit (%) ................................
Bottom-Mount Refrigerator-Freezers:
Net Cost (%) ....................................
No Impact (%) ..................................
Net Benefit (%) ................................
Side-by-Side Refrigerator-Freezers:
Net Cost (%) ....................................
No Impact (%) ..................................
Net Benefit (%) ................................
emcdonald on DSK5VPTVN1PROD with RULES3
Generation Capacity Reduction (GW) †
34 .......................
8.3 ......................
58 .......................
34 .......................
8.3 ......................
58 .......................
46 .......................
0.0 ......................
54 .......................
65 .......................
0.0 ......................
35 .......................
80.
0.0.
20.
2.5 ......................
68 .......................
30 .......................
2.5 ......................
68 .......................
30 .......................
2.5 ......................
68 .......................
30 .......................
83 .......................
0.0 ......................
17 .......................
89.
0.0.
11.
4.3 ......................
37 .......................
59 .......................
42 .......................
0.0 ......................
59 .......................
42 .......................
0.0 ......................
59 .......................
70 .......................
0.0 ......................
30 .......................
80.
0.0.
21.
2.62 ....................
3.03 ....................
3.56 ....................
4.86 ....................
5.82.
(0.24) to (7.35) ...
(0.37) to (7.35).
Employment Impacts
Total Potential Changes in Domestic
Production Workers in 2014 (thousands).
(0.19) to (7.35) ...
48 Alan Sanstad, Notes on the Economics of
Household Energy Consumption and Technology
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(0.22) to (7.35) ...
(0.18) to (7.35) ...
Choice. Lawrence Berkeley National Laboratory.
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57595
TABLE VI.70—SUMMARY OF RESULTS FOR STANDARD-SIZE REFRIGERATOR-FREEZERS—Continued
Category
TSL 1
TSL 2
TSL 3
TSL 4
Indirect Domestic Jobs (thousands) † .....
16.24 ..................
18.45 ..................
21.33 ..................
26.31 ..................
TSL 5
28.85.
emcdonald on DSK5VPTVN1PROD with RULES3
Parentheses indicate negative (¥) values.
* Range of the economic value of CO2 reductions is based on estimates of the global benefit of reduced CO2 emissions.
** For LCCs, a negative value means an increase in LCC by the amount indicated.
† Changes in 2043.
DOE first considered TSL 5, which
represents the max-tech efficiency
levels. TSL 5 would save 5.30 quads of
energy, an amount DOE considers
significant. Under TSL 5, the NPV of
consumer benefit would be ¥$6.03
billion to ¥$16.3 billion, using a
discount rate of 7 percent, and ¥$11.4
to $9.67 billion, using a discount rate of
3 percent.
The cumulative emissions reductions
at TSL 5 are 386 Mt of CO2, 310,000 tons
of NOX, and 1.73 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 5 ranges from $3.20 billion to
$30.98 billion. Total generating capacity
in 2043 is estimated to decrease by 5.82
GW under TSL 5.
At TSL 5, the average LCC impact is
a cost (LCC increase) of $87 for topmount refrigerator-freezers, a cost of
$136 for bottom-mount refrigeratorfreezers, and a cost of $83 for side-byside refrigerator-freezers. The median
payback period is 17.8 years for topmount refrigerator-freezers, 24.7 years
for bottom-mount refrigerator-freezers,
and 19.1 years for side-by-side
refrigerator-freezers. The fraction of
consumers experiencing an LCC benefit
is 20 percent for top-mount refrigeratorfreezers, 11 percent for bottom-mount
refrigerator-freezers, and 21 percent for
side-by-side refrigerator-freezers. The
fraction of consumers experiencing an
LCC cost is 80 percent for top-mount
refrigerator-freezers, 89 percent for
bottom-mount refrigerator-freezers, and
80 percent for side-by-side refrigeratorfreezers.
At TSL 5, the projected change in
INPV ranges from a decrease of $1,042.2
million to a decrease of $1,841.5
million. At TSL 5, DOE recognizes the
risk of very large negative impacts if
manufacturers’ expectations concerning
reduced profit margins are realized. If
the high end of the range of impacts is
reached as DOE expects, TSL 5 could
result in a net loss of 69.0 percent in
INPV to standard-size refrigeratorfreezer manufacturers.
The Secretary has concluded that at
TSL 5 for standard-size refrigeratorfreezers, the benefits of energy savings,
generating capacity reductions,
emission reductions, and the estimated
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monetary value of the CO2 emissions
reductions would be outweighed by the
negative NPV of consumer benefits, the
economic burden on a significant
fraction of consumers due to the large
increases in product cost, and the
capital conversion costs and profit
margin impacts that could result in a
very large reduction in INPV for
manufacturers. Consequently, the
Secretary has concluded that TSL 5 is
not economically justified.
DOE then considered TSL 4. TSL 4
would save 4.45 quads of energy, an
amount DOE considers significant.
Under TSL 4, the NPV of consumer
benefit would be ¥$5.76 billion to
$0.80 billion, using a discount rate of 7
percent, and $4.80 billion to $18.2
billion, using a discount rate of 3
percent.
The cumulative emissions reductions
at TSL 4 are 323 Mt of CO2, 260,000 tons
of NOX, and 1.45 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 4 ranges from $2.68 billion to $25.9
billion. Total generating capacity in
2043 is estimated to decrease by 4.86
GW under TSL 4.
At TSL 4, DOE projects that the
average LCC impact is a cost (LCC
increase) of $6 for top-mount
refrigerator-freezers, a cost of $53 for
bottom-mount refrigerator-freezers, and
a cost of $18 for side-by-side
refrigerator-freezers. The median
payback period is 13.3 years for topmount refrigerator-freezers, 21.0 years
for bottom-mount refrigerator-freezers,
and 15.6 years for side-by-side
refrigerator-freezers. The fraction of
consumers experiencing an LCC benefit
is 35 percent for top-mount refrigeratorfreezers, 17 percent for bottom-mount
refrigerator-freezers, and 30 percent for
side-by-side refrigerator-freezers. The
fraction of consumers experiencing an
LCC cost is 65 percent for top-mount
refrigerator-freezers, 83 percent for
bottom-mount refrigerator-freezers, and
70 percent for side-by-side refrigeratorfreezers.
At TSL 4, the projected change in
INPV ranges from a decrease of $784.9
million to a decrease of $1,309.3
million. DOE recognizes the risk of large
negative impacts if manufacturers’
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expectations concerning reduced profit
margins are realized. If the high end of
the range of impacts is reached as DOE
expects, TSL 4 could result in a net loss
of 49.0 percent in INPV to standard-size
refrigerator-freezer manufacturers.
The Secretary has concluded that at
TSL 4 for standard-size refrigeratorfreezers, the benefits of energy savings,
positive NPV of consumer benefits at 3percent discount rate, generating
capacity reductions, and emission
reductions and the estimated monetary
value of the CO2 emissions reductions
would be outweighed by the negative
NPV of consumer benefits at 7-percent
discount rate, the economic burden on
a significant fraction of consumers due
to the large increases in product cost,
and the capital conversion costs and
profit margin impacts that could result
in a substantial reduction in INPV for
the manufacturers. Consequently, the
Secretary has concluded that TSL 4 is
not economically justified.
DOE then considered TSL 3. TSL 3
would save 3.27 quads of energy, an
amount DOE considers significant.
Under TSL 3, the NPV of consumer
benefit would be $3.17 billion to $6.10
billion, using a discount rate of 7
percent, and $16.9 billion to $22.9
billion, using a discount rate of 3
percent.
The cumulative emissions reductions
at TSL 3 are 238 Mt of CO2, 191,000 tons
of NOX, and 1.07 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 3 ranges from $1.96 billion to $19.0
billion. Total generating capacity in
2043 is estimated to decrease by 3.56
GW under TSL 3.
At TSL 3, the average LCC impact is
a gain (consumer savings) of $42 for topmount refrigerator-freezers, a gain of $22
for bottom-mount refrigerator-freezers,
and a gain of $57 for side-by-side
refrigerator-freezers. The median
payback period is 9.5 years for topmount refrigerator-freezers, 4.2 years for
bottom-mount refrigerator-freezers, and
9.2 years for side-by-side refrigeratorfreezers. The fraction of consumers
experiencing an LCC benefit is 54
percent for top-mount refrigeratorfreezers, 30 percent for bottom-mount
refrigerator-freezers, and 59 percent for
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side-by-side refrigerator-freezers. The
fraction of consumers experiencing an
LCC cost is 46 percent for top-mount
refrigerator-freezers, 2.5 percent for
bottom-mount refrigerator-freezers, and
42 percent for side-by-side refrigeratorfreezers.
At TSL 3, the projected change in
INPV ranges from a decrease of $345.0
million to a decrease of $580.7 million.
DOE recognizes the risk of negative
impacts if manufacturers’ expectations
concerning reduced profit margins are
realized. If the high end of the range of
impacts is reached as DOE expects, TSL
3 could result in a net loss of 21.7
percent in INPV to standard-size
refrigerator-freezer manufacturers.
The Secretary has concluded that at
TSL 3 for standard-size refrigeratorfreezers, the benefits of energy savings,
positive NPV of consumer benefits,
generating capacity reductions,
emission reductions, and the estimated
monetary value of the CO2 emissions
reductions outweigh the economic
burden on a significant fraction of
consumers due to the increases in
product cost, and the capital conversion
costs and profit margin impacts that
could result in a reduction in INPV for
the manufacturers. In addition to the
aforementioned benefits of the amended
standards, DOE notes that the efficiency
levels in TSL 3 correspond to the
recommended levels presented in the
Joint Comments and, as stated
previously, DOE recognizes the value of
consensus agreements submitted in
accordance with 42 U.S.C. 6295(p)(4).
After considering the analysis,
comments responding to the September
2010 NOPR, and the benefits and
burdens of TSL 3, the Secretary has
concluded that this trial standard level
will offer the maximum improvement in
efficiency that is technologically
feasible and economically justified, and
will result in the significant
conservation of energy. Therefore, DOE
is adopting TSL 3 for standard-size
refrigerator-freezers. The amended
energy conservation standards for
standard-size refrigerator-freezers,
expressed as equations for maximum
energy use, are shown in Table VI.71.
TABLE VI.71—AMENDED STANDARDS FOR STANDARD-SIZE REFRIGERATORS AND REFRIGERATOR-FREEZERS
Equations for maximum energy use
(kWh/yr)
Product class
Based on AV (ft 3)
1. Refrigerator-freezers and refrigerators other than all-refrigerators with manual defrost .....................
1A. All-refrigerators—manual defrost .......................................................................................................
2. Refrigerator-freezers—partial automatic defrost ..................................................................................
3. Refrigerator-freezers—automatic defrost with top-mounted freezer without an automatic icemaker ..
3I. Refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic icemaker
without through-the-door ice service.
3A. All-refrigerators—automatic defrost ...................................................................................................
4. Refrigerator-freezers—automatic defrost with side-mounted freezer without an automatic icemaker
4I. Refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic icemaker
without through-the-door ice service.
5. Refrigerator-freezers—automatic defrost with bottom-mounted freezer without an automatic icemaker.
5I. Refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic icemaker
without through-the-door ice service.
5A. Refrigerator-freezer—automatic defrost with bottom-mounted freezer with through-the-door ice
service.
6. Refrigerator-freezers—automatic defrost with top-mounted freezer with through-the-door ice service.
7. Refrigerator-freezers—automatic defrost with side-mounted freezer with through-the-door ice service.
7.99AV
6.79AV
7.99AV
8.07AV
8.07AV
+
+
+
+
+
225.0
193.6
225.0
233.7
317.7
.....
.....
.....
.....
.....
Based on av (L)
0.282av
0.240av
0.282av
0.285av
0.285av
+
+
+
+
+
225.0
193.6
225.0
233.7
317.7
7.07AV + 201.6 .....
8.51AV + 297.8 .....
8.51AV + 381.8 .....
0.250av + 201.6
0.301av + 297.8
0.301av + 381.8
8.85AV + 317.0 .....
0.312av + 317.0
8.85AV + 401.0 .....
0.312av + 401.0
9.25AV + 475.4 .....
0.327av + 475.4
8.40AV + 385.4 .....
0.297av + 385.4
8.54AV + 432.8 .....
0.302av + 432.8
AV = adjusted volume in cubic feet; av = adjusted volume in liters.
2. Standard-Size Freezers
Table VI.72 presents a summary of the
quantitative impacts estimated for each
TSL for standard-size freezers. The
efficiency levels contained in each TSL
are described in section VI.A. The range
of results for NPV of consumer benefits
reflects the range of product price
forecasts discussed in section IV.G.3.
TABLE VI.72—SUMMARY OF RESULTS FOR STANDARD-SIZE FREEZERS
Category
TSL 1
TSL 2
TSL 3
TSL 4
TSL 5
National Energy Savings (quads) ................
0.79 ....................
1.14 ....................
1.34 ....................
1.52 ....................
1.62.
10.7 to 12.4 ........
2.96 to 3.77 ........
9.66 to 12.2 ........
2.03 to 3.25 ........
5.32 to 9.46.
(0.63) to 1.41.
(145.0) to
(298.8).
(42.9) to (88.5).
emcdonald on DSK5VPTVN1PROD with RULES3
NPV of Consumer Benefits (2009$ billion)
3% discount rate ..........................................
7% discount rate ..........................................
8.00 to 8.50 ........
2.67 to 2.92 ........
10.1 to 11.2 ........
3.02 to 3.59 ........
Industry Impacts
Industry NPV (2009$ million) .......................
(29.8) to (50.0) ...
(123.7) to (170.5)
(112.5) to (178.1)
(85.4) to (182.4)
Industry NPV (% change) ............................
(8.8) to (14.8) .....
(36.6) to (50.5) ...
(33.3) to (52.7) ...
(25.3) to (54.0) ...
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57597
TABLE VI.72—SUMMARY OF RESULTS FOR STANDARD-SIZE FREEZERS—Continued
Category
TSL 1
TSL 2
TSL 3
TSL 4
TSL 5
91 .......................
73 .......................
0.41 ....................
103 .....................
83 .......................
0.47 ....................
110.
89.
0.50.
0.92 to 8.80 ........
0.027 to 0.28 ......
0.011 to 0.107 ....
0.98 to 9.41.
0.029 to 0.30.
0.011 to 0.115.
189 .....................
79 .......................
161 .....................
47 .......................
33.
(25).
7.1 ......................
8.5 ......................
9.3 ......................
12.1 ....................
14.7.
17.8.
Cumulative Emissions Reduction
CO2 (Mt) .......................................................
NOX (1000 tons) ..........................................
Hg (tons) ......................................................
54 .......................
43 .......................
0.24 ....................
77 .......................
62 .......................
0.34 ....................
Value of Cumulative Emissions Reduction
CO2 (2009$ billion) * ....................................
NOX—3% discount rate (2009$ billion) .......
NOX—7% discount rate (2009$ billion) .......
0.48 to 4.58 ........
0.014 to 0.15 ......
0.006 to 0.056 ....
0.69 to 6.59 ........
0.020 to 0.21 ......
0.008 to 0.081 ....
0.81 to 7.76 ........
0.024 to 0.25 ......
0.009 to 0.095 ....
Mean LCC Savings** (2009$)
Upright Freezers ..........................................
Chest Freezers ............................................
140 .....................
82 .......................
195 .....................
69 .......................
Median PBP (years)
Upright Freezers ..........................................
Chest Freezers ............................................
4.0 ......................
3.9 ......................
5.3 ......................
8.1 ......................
Distribution of Consumer LCC Impacts
Upright Freezers:
Net Cost (%) .........................................
No Impact (%) .......................................
Net Benefit (%) .....................................
Chest Freezers:
Net Cost (%) .........................................
No Impact (%) .......................................
Net Benefit (%) .....................................
Generation Capacity Reduction (GW) † ......
6.0 ......................
0.6 ......................
93 .......................
12 .......................
0.2 ......................
88 .......................
22 .......................
0.0 ......................
78 .......................
35 .......................
0.0 ......................
65 .......................
60.
0.0.
40.
5 .........................
0.2 ......................
95 .......................
27 .......................
0.2 ......................
73 .......................
29 .......................
0.2 ......................
71 .......................
49 .......................
0.0 ......................
51 .......................
69.
0.0.
31.
0.83 ....................
0.83 ....................
1.40 ....................
1.59 ....................
1.71.
Employment Impacts
Total Potential Changes in Domestic Production Workers in 2014 (thousands).
Indirect Domestic Jobs (thousands) † ..........
(0.05) to (1.64) ...
(0.11) to (1.64) ...
(0.15) to (1.64) ...
(0.23) to (1.64) ...
(0.34) to (1.64).
5.18 ....................
7.24 ....................
8.38 ....................
9.19 ....................
9.12.
emcdonald on DSK5VPTVN1PROD with RULES3
Parentheses indicate negative (¥) values.
Range of the economic value of CO2 reductions is based on estimates of the global benefit of reduced CO2 emissions.
** For LCCs, a negative value means an increase in LCC by the amount indicated.
† Changes in 2043.
DOE first considered TSL 5, which
represents the max-tech efficiency
levels. TSL 5 would save 1.62 quads of
energy, an amount DOE considers
significant. Under TSL 5, the NPV of
consumer benefit would be ¥$0.63
billion to $1.41 billion, using a discount
rate of 7 percent, and $5.32 billion to
$9.46 billion, using a discount rate of 3
percent.
The cumulative emissions reductions
at TSL 5 are 110 Mt of CO2, 89,000 tons
of NOX, and 0.50 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 5 ranges from $0.98 billion to $9.41
billion. Total generating capacity in
2043 is estimated to decrease by 1.71
GW under TSL 5.
At TSL 5, the average LCC impact is
a gain (LCC decrease) of $33 for upright
freezers, and a cost of $25 for chest
freezers. The median payback period is
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14.7 years for upright freezers and 17.8
years for chest freezers. The fraction of
consumers experiencing an LCC benefit
is 40 percent for upright freezers and 31
percent for chest freezers. The fraction
of consumers experiencing an LCC cost
is 60 percent for upright freezers and 69
percent for chest freezers.
At TSL 5, the projected change in
INPV ranges from a decrease of $145.0
million to a decrease of $298.8 million.
DOE recognizes the risk of very large
negative impacts if manufacturers’
expectations concerning reduced profit
margins are realized. Standards at TSL
5 would require efficiency levels that
are far higher than the most efficient
products currently available on the
market. Manufacturing products to meet
standards at TSL 5 would require large
investments in product redesign and
conversion of facilities. Because
standard-size freezers are currently low-
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cost, low-margin products, there is a
limited ability to pass on to consumers
the required conversion costs and added
product costs associated with efficiencyimproving technologies for freezers. If
the high end of the range of impacts is
reached as DOE expects, TSL 5 could
result in a net loss of 88.5 percent in
INPV to standard-size freezer
manufacturers.
The Secretary has concluded that at
TSL 5 for standard-size freezers, the
benefits of energy savings, positive NPV
of consumer benefits, generating
capacity reductions, emission
reductions, and the estimated monetary
value of the CO2 emissions reductions
would be outweighed by the economic
burden on a significant fraction of
consumers due to the large increases in
product cost, and the capital conversion
costs and profit margin impacts that
could result in a very large reduction in
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INPV for manufacturers. Consequently,
the Secretary has concluded that TSL 5
is not economically justified.
DOE then considered TSL 4. TSL 4
would save 1.52 quads of energy, an
amount DOE considers significant.
Under TSL 4, the NPV of consumer
benefit would be $2.03 billion to $3.25
billion, using a discount rate of 7
percent, and $9.66 billion to $12.2
billion, using a discount rate of 3
percent.
The cumulative emissions reductions
at TSL 4 are 103 Mt of CO2, 83,000 tons
of NOX, and 0.47 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 4 ranges from $0.92 billion to $8.80
billion. Total generating capacity in
2043 is estimated to decrease by 1.59
GW under TSL 4.
At TSL 4, the average LCC impact is
a gain (consumer savings) of $161 for
upright freezers and a gain of $47 for
chest freezers. The median payback
period is 9.3 years for upright freezers
and 12.1 years for chest freezers. The
fraction of consumers experiencing an
LCC benefit is 65 percent for upright
freezers and 51 percent for chest
freezers. The fraction of consumers
experiencing an LCC cost is 35 percent
for upright freezers and 49 percent for
chest freezers.
At TSL 4, the projected change in
INPV ranges from a decrease of $85.4
million to a decrease of $182.4 million.
DOE recognizes the risk of very large
negative impacts if manufacturers’
expectations concerning reduced profit
margins are realized. Standards at TSL
4 would require efficiency levels that
are substantially higher than the most
efficient products currently available on
the market. Manufacturing products to
meet standards at TSL 4 would require
large investments in product redesign
and conversion of facilities. Because
standard-size freezers are currently lowcost, low-margin products, there is a
limited ability to pass on to consumers
the required conversion costs and added
product costs associated with efficiencyimproving technologies for freezers. If
the high end of the range of impacts is
reached as DOE expects, TSL 4 could
result in a net loss of 54.0 percent in
INPV to standard-size freezer
manufacturers.
The Secretary has concluded that at
TSL 4 for standard-size freezers, the
benefits of energy savings, positive NPV
of consumer benefits, generating
capacity reductions, emission
reductions, the estimated monetary
value of the cumulative CO2 emissions
reductions, and the economic benefit on
a significant fraction of upright freezer
consumers would be outweighed by the
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economic burden on a significant
fraction of chest freezer consumers due
to the increase in product cost, and the
large capital conversion costs and
margin impacts that could result in a
large reduction in INPV for
manufacturers.
DOE then considered TSL 3. TSL 3
would save 1.34 quads of energy, an
amount DOE considers significant.
Under TSL 3, the NPV of consumer
benefit would be $2.96 billion to $3.77
billion, using a discount rate of 7
percent, and $10.7 billion to $12.4
billion, using a discount rate of 3
percent.
The cumulative emissions reductions
at TSL 3 are 91 Mt of CO2, 73,000 tons
of NOX, and 0.41 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 3 ranges from $0.81 billion to $7.76
billion. Total generating capacity in
2043 is estimated to decrease by 1.40
GW under TSL 3.
At TSL 3, the average LCC impact is
a gain (consumer savings) of $189 for
upright freezers and a gain of $79 for
chest freezers. The median payback
period is 7.1 years for upright freezers
and 8.5 years for chest freezers. The
fraction of consumers experiencing an
LCC benefit is 78 percent for upright
freezers and 71 percent for chest
freezers. The fraction of consumers
experiencing an LCC cost is 22 percent
for upright freezers and 29 percent for
chest freezers.
At TSL 3, the projected change in
INPV ranges from a decrease of $112.5
million to a decrease of $178.1 million.
DOE recognizes the risk of very large
negative impacts if manufacturers’
expectations concerning reduced profit
margins are realized. Standards at TSL
3 would require efficiency levels that
are substantially higher than the most
efficient products currently available on
the market. Similar to the case of TSL
4, manufacturing products to meet
standards at TSL 3 would require large
investments in product redesign and
conversion of facilities. Because
standard-size freezers are currently lowcost, low-margin products, there is a
limited ability to pass on to consumers
the required conversion costs and added
product costs associated with more
energy efficient technologies for
freezers. If the high end of the range of
impacts is reached, as DOE expects, TSL
3 could result in a net loss of 52.7
percent in INPV to standard-size freezer
manufacturers.
DOE notes that TSL 3 is not at the
level recommended in the consensus
agreement. DOE also notes that the TSL
3 efficiency levels are significantly
higher than the maximum-efficiency
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products on the market: From 8%
higher for product class 9 (upright
freezers with automatic defrost) to 15%
higher for product class 10 (chest
freezers). Hence, DOE believes that there
may be other factors, including
additional burdens, that the parties to
that agreement may have considered
that are not reflected in DOE’s analysis.
Given this possibility, the strong
support expressed by commenters in
favor of the consensus agreement levels,
and the lack of product on the market
that is close to meeting the requirements
of this level, DOE is declining to adopt
TSL 3 as part of today’s final rule. It
may, however, reconsider this level as
part of a future review of the standards
set by today’s rulemaking as part of the
agency’s required review under 42
U.S.C. 6295(m).
Accordingly, the Secretary has
concluded that at TSL 3 for standardsize freezers, the benefits of energy
savings, positive NPV of consumer
benefits, generating capacity reductions,
emission reductions, the estimated
monetary value of the cumulative CO2
emissions reductions, and the economic
benefit for a significant fraction of
freezer consumers would be outweighed
by the large capital conversion costs and
profit margin impacts and other burdens
that manufacturers would bear in order
to produce freezers that meet efficiency
requirements substantially more
stringent than what products on the
market presently can satisfy.
DOE then considered TSL 2. TSL 2
would save 1.14 quads of energy, an
amount DOE considers significant.
Under TSL 2, the NPV of consumer
benefit would be $3.02 billion to $3.59
billion, using a discount rate of 7
percent, and $10.1 billion to $11.2
billion, using a discount rate of 3
percent.
The cumulative emissions reductions
at TSL 2 are 77 Mt of CO2, 62,000 tons
of NOX, and 0.34 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 2 ranges from $0.69 billion to $6.59
billion. Total generating capacity in
2043 is estimated to decrease by 0.83
GW under TSL 2.
At TSL 2, the average LCC impact is
a gain (consumer savings) of $195 for
upright freezers and a gain of $69 for
chest freezers. The median payback
period is 5.3 years for upright freezers
and 8.1 years for chest freezers. The
fraction of consumers experiencing an
LCC benefit is 88 percent for upright
freezers and 73 percent for chest
freezers. The fraction of consumers
experiencing an LCC cost is 12 percent
for upright freezers and 27 percent for
chest freezers.
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of consumer benefits, generating
capacity reductions, emission
reductions, the estimated monetary
value of the cumulative CO2 emissions
reductions, and the economic benefit for
a significant fraction of freezer
consumers would outweigh the capital
conversion costs and profit margin
impacts that could result in a reduction
in INPV for the manufacturers. In
addition to the aforementioned benefits,
DOE notes that the efficiency levels in
TSL 2 correspond to the recommended
levels in the Joint Comments and, as
stated previously, DOE recognizes the
value of consensus agreements
submitted in accordance with 42 U.S.C.
6295(p)(4).
DOE estimated the projected change
in INPV ranges from a decrease of
$123.7 million to a decrease of $170.5
million. At TSL 2, DOE recognizes the
risk of negative impacts if
manufacturers’ expectations concerning
reduced profit margins are realized.
Standards at TSL 2 would pose many of
the same issues as discussed above for
TSL3, but the projected negative
impacts are somewhat less. If the high
end of the range of impacts is reached
as DOE expects, TSL 2 could result in
a net loss of 50.5 percent in INPV to
standard-size freezer manufacturers.
The Secretary has concluded that at
TSL 2 for standard-size freezers, the
benefits of energy savings, positive NPV
After considering the analysis,
comments responding to the September
2010 NOPR, and the benefits and
burdens of TSL 2, the Secretary has
concluded that this trial standard level
will offer the maximum improvement in
efficiency that is technologically
feasible and economically justified, and
will result in the significant
conservation of energy. Therefore, DOE
today is adopting TSL 2 for standardsize freezers. The amended energy
conservation standards for standard-size
freezers, expressed as equations for
maximum energy use, are shown in
Table VI.73.
TABLE VI.73—AMENDED STANDARDS FOR STANDARD-SIZE FREEZERS
Equations for maximum energy use
(kWh/yr)
Product class
Based on AV (ft 3)
8. Upright freezers with manual defrost ...................................................................................................
9. Upright freezers with automatic defrost without an automatic icemaker .............................................
9I. Upright freezers with automatic defrost with an automatic icemaker .................................................
10. Chest freezers and all other freezers except compact freezers ........................................................
10A. Chest freezers with automatic defrost .............................................................................................
5.57AV + 193.7 .....
8.62AV + 228.3 .....
8.62AV + 312.3 .....
7.29AV + 107.8 .....
10.24AV + 148.1 ...
Based on av (L)
0.197av
0.305av
0.305av
0.257av
0.362av
+
+
+
+
+
193.7
228.3
312.3
107.8
148.1
AV = adjusted volume in cubic feet; av = adjusted volume in liters.
3. Compact Refrigeration Products
Table VI.74 presents a summary of the
quantitative impacts estimated for each
TSL for compact refrigeration products.
The efficiency levels contained in each
TSL are described in section VI.A. The
range of results for NPV of consumer
benefits reflects the range of product
price forecasts discussed in section
IV.G.3.
TABLE VI.74—SUMMARY OF RESULTS FOR COMPACT REFRIGERATION PRODUCTS
Category
TSL 1
TSL 2
TSL 3
TSL 4
TSL 5
National Energy Savings (quads) ................
0.30 ....................
0.37 ....................
0.43 ....................
0.54 ....................
0.59.
1.45 to 2.15 ........
0.482 to 0.819 ....
0.046 to 1.43 ......
(0.363) to 0.304 ..
(3.75) to (1.17).
(2.51) to (1.25).
NPV of Consumer Benefits (2009$ billion)
3% discount rate ..........................................
7% discount rate ..........................................
1.64 to 1.95 ........
0.675 to 0.821 ....
1.29 to 1.89 ........
0.439 to 0.724 ....
Industry Impacts
Compact Refrigeration Products:
Industry NPV (2009$ million) ................
(16.6) to (27.8) ...
(36.2) to (58.7) ...
(62.9) to (89.3) ...
(41.5) to (92.8) ...
Industry NPV (% change) .....................
(9.8) to (16.4) .....
(21.4) to (34.6) ...
(37.1) to (52.7) ...
(24.5) to (54.8) ...
(154.9) to
(242.6).
(91.4) to (143.2).
35 .......................
29 .......................
0.19 ....................
39.
31.
0.21.
0.22 to 2.25 ........
0.008 to 0.079 ....
0.004 to 0.038 ....
0.24 to 2.47.
0.009 to 0.088.
0.004 to 0.042.
(5) .......................
(23) .....................
(85).
(102).
Cumulative Emissions Reduction
CO2 (Mt) .......................................................
NOX (1000 tons) ..........................................
Hg (tons) ......................................................
20 .......................
16 .......................
0.10 ....................
24 .......................
20 .......................
0.12 ....................
28 .......................
23 .......................
0.15 ....................
emcdonald on DSK5VPTVN1PROD with RULES3
Value of Cumulative Emissions Reduction
CO2 (2009$ billion)* .....................................
NOX—3% discount rate (2009$ billion) .......
NOX—7% discount rate (2009$ billion) .......
0.12 to 1.26 ........
0.004 to 0.044 ....
0.002 to 0.021 ....
0.15 to 1.54 ........
0.005 to 0.054 ....
0.003 to 0.026 ....
0.18 to 1.79 ........
0.006 to 0.063 ....
0.003 to 0.030 ....
Mean LCC Savings ** (2009$)
Compact Refrigerators .................................
Compact Freezers .......................................
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
TABLE VI.74—SUMMARY OF RESULTS FOR COMPACT REFRIGERATION PRODUCTS—Continued
Category
TSL 1
TSL 2
TSL 3
TSL 4
TSL 5
3.9 ......................
4.2 ......................
5.8 ......................
9.1 ......................
10.4.
14.4.
Median PBP (years)
Compact Refrigerators .................................
Compact Freezers .......................................
2.5 ......................
2.2 ......................
3.5 ......................
2.2 ......................
Distribution of Consumer LCC Impacts
Compact Refrigerators:
Net Cost (%) .........................................
No Impact (%) .......................................
Net Benefit (%) .....................................
Compact Freezers:
Net Cost (%) .........................................
No Impact (%) .......................................
Net Benefit (%) .....................................
Generation Capacity Reduction (GW) † ......
20 .......................
1.4 ......................
79 .......................
37 .......................
1.0 ......................
62 .......................
44 .......................
0.9 ......................
56 .......................
70 .......................
0.0 ......................
30 .......................
92.
0.0.
7.9.
8 .........................
5 .........................
87 .......................
0.27 ....................
8 .........................
5 .........................
87 .......................
0.34 ....................
34 .......................
0.0 ......................
66 .......................
0.39 ....................
85 .......................
0.0 ......................
16 .......................
0.48 ....................
97.
0.0.
3.3.
0.51.
Employment Impacts
Total Potential Changes in Domestic Production Workers in 2014 (thousands).
Indirect Domestic Jobs (thousands) † ..........
(0.00) to (0.03) ...
(0.00) to (0.03) ...
(0.00) to (0.03) ...
(0.00) to (0.03) ...
(0.01) to (0.03).
1.44 ....................
1.64 ....................
1.88 ....................
2.02 ....................
1.53.
emcdonald on DSK5VPTVN1PROD with RULES3
Parentheses indicate negative (¥) values.
* Range of the economic value of CO2 reductions is based on estimates of the global benefit of reduced CO2 emissions.
** For LCCs, a negative value means an increase in LCC by the amount indicated.
† Changes in 2043.
DOE first considered TSL 5, which
represents the max-tech efficiency
levels. TSL 5 would save 0.59 quads of
energy, an amount DOE considers
significant. Under TSL 5, the NPV of
consumer benefit would be ¥$2.51
billion to ¥$1.25 billion, using a
discount rate of 7 percent, and ¥$3.75
billion to ¥$1.17 billion, using a
discount rate of 3 percent.
The cumulative emissions reductions
at TSL 5 are 39 Mt of CO2, 31,000 tons
of NOX, and 0.21 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 5 ranges from $0.24 billion to $2.47
billion. Total generating capacity in
2043 is estimated to decrease by 0.51
GW under TSL 5.
At TSL 5, the average LCC impact is
a cost (LCC increase) of $85 for compact
refrigerators and a cost of $102 for
compact freezers. The median payback
period is 10.4 years for compact
refrigerators and 14.4 years for compact
freezers. The fraction of consumers
experiencing an LCC benefit is 7.9
percent for compact refrigerators and 3.3
percent for compact freezers. The
fraction of consumers experiencing an
LCC cost is 92 percent for compact
refrigerators and 97 percent for compact
freezers.
At TSL 5, the projected change in
INPV ranges from a decrease of $154.9
million to a decrease of $242.6 million.
DOE recognizes the risk of very large
negative impacts if manufacturers’
expectations concerning reduced profit
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margins are realized. Manufacturing
products to meet standards at TSL 5
would require large investments in
product redesign and conversion of
facilities. Because compact refrigeration
products are currently low-cost, lowmargin products, there is a limited
ability to pass on to consumers the
required conversion costs and added
product costs associated with efficiencyimproving technologies. If the high end
of the range of impacts is reached as
DOE expects, TSL 5 could result in a net
loss of 143.2 percent in INPV to
compact refrigeration product
manufacturers.
The Secretary has concluded that at
TSL 5 for compact refrigeration
products, the benefits of energy savings,
generating capacity reductions,
emission reductions, and the estimated
monetary value of the CO2 emissions
reductions would be outweighed by the
negative NPV of consumer benefits, the
economic burden on a significant
fraction of consumers due to the
increases in product cost, the capital
conversion costs and profit margin
impacts that could result in a large
reduction in INPV for manufacturers.
Consequently, the Secretary has
concluded that TSL 5 is not
economically justified.
DOE then considered TSL 4. TSL 4
would save 0.54 quads of energy, an
amount DOE considers significant.
Under TSL 4, the NPV of consumer
benefit would be ¥$0.363 billion to
$0.304 billion, using a discount rate of
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7 percent, and $0.46 billion to $1.43
billion, using a discount rate of 3
percent.
The cumulative emissions reductions
at TSL 4 are 35 Mt of CO2, 29,000 tons
of NOX, and 0.19 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 4 ranges from $0.22 billion to $2.25
billion. Total generating capacity in
2043 is estimated to decrease by 0.48
GW under TSL 4.
At TSL 4, the average LCC impact is
a cost (LCC increase) of $5 for compact
refrigerators and a cost of $23 for
compact freezers. The median payback
period is 5.8 years for compact
refrigerators and 9.1 years for compact
freezers. The fraction of consumers
experiencing an LCC benefit is 30
percent for compact refrigerators and 16
percent for compact freezers. The
fraction of consumers experiencing an
LCC cost is 70 percent for compact
refrigerators and 85 percent for compact
freezers.
At TSL 4, the projected change in
INPV ranges from a decrease of $41.5
million to a decrease of $92.8 million.
DOE recognizes the risk of very large
negative impacts if manufacturers’
expectations about reduced profit
margins are realized. Manufacturing
products to meet standards at TSL 4
would require large investments in
product redesign and conversion of
facilities. Because compact refrigeration
products are currently low-cost, lowmargin products, there is a limited
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ability to pass on to consumers the
required conversion costs and added
product costs associated with efficiencyimproving technologies. If the high end
of the range of impacts is reached as
DOE expects, TSL 4 could result in a net
loss of 54.8 percent in INPV to compact
refrigeration product manufacturers.
The Secretary has concluded that at
TSL 4 for compact refrigeration
products, the benefits of energy savings,
generating capacity reductions,
emission reductions, and the estimated
monetary value of the CO2 emissions
reductions would be outweighed by the
negative NPV of consumer benefits, the
economic burden on a significant
fraction of consumers due to the
increases in product costs, and the
capital conversion costs and profit
margin impacts that could result in a
large reduction in INPV for
manufacturers. Consequently, the
Secretary has concluded that TSL 4 is
not economically justified.
DOE then considered TSL 3. TSL 3
would save 0.43 quads of energy, an
amount DOE considers significant.
Under TSL 3, the NPV of consumer
benefit would be $0.482 billion to
$0.819 billion, using a discount rate of
7 percent, and $1.45 to $2.15 billion,
using a discount rate of 3 percent.
The cumulative emissions reductions
at TSL 3 are 28 Mt of CO2, 23,000 tons
of NOX, and 0.15 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 3 ranges from $0.18 billion to $1.79
billion. Total generating capacity in
2043 is estimated to decrease by 0.39
GW under TSL 3.
At TSL 3, the average LCC impact is
a gain (consumer savings) of $13 for
compact refrigerators and a gain of $9
for compact freezers. The median
payback period is 3.9 years for compact
refrigerators and 4.2 years for compact
freezers. The fraction of consumers
experiencing an LCC benefit is 56
percent for compact refrigerators and 66
percent for compact freezers. The
fraction of consumers experiencing an
LCC cost is 44 percent for compact
refrigerators and 34 percent for compact
freezers.
At TSL 3, the projected change in
INPV ranges from a decrease of $62.9
million to a decrease of $89.3 million.
DOE recognizes the risk of large
negative impacts if manufacturers’
expectations about reduced profit
margins are realized. Manufacturing
products to meet standards at TSL 3
would require large investments in
product redesign and conversion of
facilities. Because compact refrigeration
products are currently low-cost, lowmargin products, there is a limited
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ability to pass on to consumers the
required conversion costs and added
product costs associated with efficiencyimproving technologies. If the high end
of the range of impacts is reached as
DOE expects, TSL 3 could result in a net
loss of 52.7 percent in INPV to compact
refrigeration product manufacturers.
The Secretary has concluded that at
TSL 3 for compact refrigeration
products, the benefits of energy savings,
positive NPV of consumer benefits,
generating capacity reductions,
emission reductions, and the estimated
monetary value of the cumulative CO2
emissions reductions would be
outweighed by the economic burden on
a significant fraction of consumers due
to the increases in product costs, and by
the capital conversion costs and profit
margin impacts that could result in a
large reduction in INPV for
manufacturers. Consequently, the
Secretary has concluded that TSL 3 is
not economically justified.
DOE then considered TSL 2. TSL 2
would save 0.37 quads of energy, an
amount DOE considers significant.
Under TSL 2, the NPV of consumer
benefit would be $0.439 billion to
$0.724 billion, using a discount rate of
7 percent, and $1.29 billion to $1.89
billion, using a discount rate of 3
percent.
The cumulative emissions reductions
at TSL 2 are 24 Mt of CO2, 20,000 tons
of NOX, and 0.12 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 2 ranges from $0.15 billion to $1.54
billion. Total generating capacity in
2043 is estimated to decrease by 0.34
GW under TSL 2.
At TSL 2, the average LCC impact is
a gain (consumer savings) of $14 for
compact refrigerators and a gain of $12
for compact freezers. The median
payback period is 3.5 years for compact
refrigerators and 2.2 years for compact
freezers. The fraction of consumers
experiencing an LCC benefit is 62
percent for compact refrigerators and 87
percent for compact freezers. The
fraction of consumers experiencing an
LCC cost is 37 percent for compact
refrigerators and 8 percent for compact
freezers.
At TSL 2, the projected change in
INPV ranges from a decrease of $36.2
million to a decrease of $58.7 million.
DOE recognizes the risk of negative
impacts if manufacturers’ expectations
about reduced profit margins are
realized. Manufacturing products to
meet standards at TSL 2 would require
investments in product redesign and
conversion of facilities. Because
compact refrigeration products are
currently low-cost, low-margin
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57601
products, there is a limited ability to
pass on to consumers the required
conversion costs and added product
costs associated with efficiencyimproving technologies. If the high end
of the range of impacts is reached as
DOE expects, TSL 2 could result in a net
loss of 34.6 percent in INPV to compact
refrigeration product manufacturers.
The Secretary has concluded that at
TSL 2 for compact refrigeration
products, the benefits of energy savings,
positive NPV of consumer benefits,
generating capacity reductions,
emission reductions, the estimated
monetary value of the cumulative CO2
emissions reductions, and the economic
benefit to a significant fraction of
consumers would outweigh the capital
conversion costs that could result in a
reduction in INPV for manufacturers. In
addition to the aforementioned benefits
of the amended standards, DOE notes
that the efficiency levels in TSL 2
correspond to the recommended levels
in the Joint Comments
AHAM and ASAP both commented
that the proposed standard energy
efficiency equation for product class 15
(compact refrigerator-freezers—
automatic defrost with bottom-mounted
freezer) was inconsistent with the
consensus agreement, which had
recommended that both product class
15 and product class 13 (compact
refrigerator-freezers—automatic defrost
with top-mounted freezer) should have
identical standards. (ASAP, Public
Meeting Transcript, No. 67 at p. 91;
AHAM, Public Meeting Transcript, No.
67 at p. 92) DOE agrees that the
standards of these two product classes
should be the same, based on the
similarities between these classes.
Commenters favored this approach and
none offered any information suggesting
an alternative approach. As stated
previously, DOE recognizes the value of
consensus agreements submitted in
accordance with 42 U.S.C. 6295(p)(4).
After considering the analysis,
comments responding to the September
2010 NOPR, and the benefits and
burdens of TSL 2, the Secretary has
concluded that this trial standard level
will offer the maximum improvement in
efficiency that is technologically
feasible and economically justified, and
will result in the significant
conservation of energy. Therefore, DOE
today is adopting TSL 2 for compact
refrigeration products. The amended
energy conservation standards for
compact refrigeration products,
expressed as equations for maximum
energy use, are shown in Table VI–75.
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TABLE VI.75—AMENDED STANDARDS FOR COMPACT REFRIGERATION PRODUCTS
Equations for maximum energy use
(kWh/yr)
Product class
Based on AV (ft 3)
11. Compact refrigerators and refrigerator-freezers with manual defrost ................................................
11A. Compact all-refrigerators—manual defrost ......................................................................................
12. Compact refrigerator-freezers—partial automatic defrost ..................................................................
13. Compact refrigerator-freezers—automatic defrost with top-mounted freezer ....................................
13I. Compact refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic
icemaker.
13A. Compact all-refrigerators—automatic defrost ..................................................................................
14. Compact refrigerator-freezers—automatic defrost with side-mounted freezer ..................................
14I. Compact refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic
icemaker.
15. Compact refrigerator-freezers—automatic defrost with bottom-mounted freezer ..............................
15I. Compact refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic
icemaker.
16. Compact upright freezers with manual defrost ..................................................................................
17. Compact upright freezers with automatic defrost ..............................................................................
18. Compact chest freezers. ....................................................................................................................
Based on av (L)
9.03AV + 252.3 .....
7.84AV + 219.1 .....
5.91AV + 335.8 .....
11.80AV + 339.2 ...
11.80AV + 423.2 ...
0.319av
0.277av
0.209av
0.417av
0.417av
+
+
+
+
+
252.3
219.1
335.8
339.2
423.2
9.17AV + 259.3 .....
6.82AV + 456.9 .....
6.82AV + 540.9 .....
0.324av + 259.3
0.241av + 456.9
0.241av + 540.9
11.80AV + 339.2 ...
11.80AV + 423.2 ...
0.417av + 339.2
0.417av + 423.2
8.65AV + 225.7 .....
10.17AV + 351.9 ...
9.25AV + 136.8 .....
0.306av + 225.7
0.359av + 351.9
0.327av + 136.8
AV = adjusted volume in cubic feet; av = adjusted volume in liters.
4. Built-In Refrigeration Products
Table V–76 presents a summary of the
quantitative impacts estimated for each
TSL for built-in refrigeration products.
The efficiency levels contained in each
TSL are described in section VI.A. The
range of results for NPV of consumer
benefits reflects the range of product
price forecasts discussed in section
IV.G.3.
TABLE VI.76—SUMMARY OF RESULTS FOR BUILT-IN REFRIGERATION PRODUCTS
Category
TSL 1
TSL 2
TSL 3
TSL 4
TSL 5
National Energy Savings (quads) ................
0.02 ....................
0.03 ....................
0.058 ..................
0.071 ..................
0.085.
(0.228) to 0.029 ..
(0.237) to (0.111)
(0.580) to (0.185)
(0.455) to (0.261)
(1.14) to (0.531).
(0.791) to
(0.495).
(68.0) to (77.2) ...
(12.3) to (13.9) ...
(82.9) to (97.6) ...
(15.0) to (17.6) ...
(89.9) to (112.1).
(16.2) to (20.2).
5.09 ....................
4.09 ....................
0.02 ....................
6.09.
4.9.
0.03.
0.043 to 0.41 ......
0.001 to 0.013 ....
0.001 to 0.005 ....
0.051 to 0.50.
0.002 to 0.016.
0.001 to 0.006.
(11) .....................
2 .........................
(91) .....................
(23) .....................
(151) ...................
(138) ...................
(91) .....................
(23) .....................
(258).
(207).
(182).
(101).
13.7
11.1
31.0
17.8
25.5
52.8
31.0
17.8
31.4.
52.2.
50.4.
22.6.
NPV of Consumer Benefits (2009$ billion)
3% discount rate ..........................................
7% discount rate ..........................................
0.166 to 0.184 ....
0.053 to 0.062 ....
0.183 to 0.226 ....
0.045 to 0.066 ....
Industry Impacts
Industry NPV (2009$ million) .......................
Industry NPV (% change) ............................
(51.9) to (52.6) ...
(9.4) to (9.5) .......
(55.1) to (56.5) ...
(9.9) to (10.2) .....
Cumulative Emissions Reduction
CO2 (Mt) .......................................................
NOX (1000 tons) ..........................................
Hg (tons) ......................................................
1.41 ....................
1.14 ....................
0.01 ....................
2.05 ....................
1.65 ....................
0.01 ....................
4.1 ......................
3.3 ......................
0.02 ....................
Value of Cumulative Emissions Reduction
CO2 (2009$ billion) * ....................................
NOX—3% discount rate (2009$ billion) .......
NOX—7% discount rate (2009$ billion) .......
0.012 to 0.12 ......
0.000 to 0.004 ....
0.000 to 0.002 ....
0.017 to 0.17 ......
0.001 to 0.005 ....
0.000 to 0.002 ....
0.035 to 0.34 ......
0.001 to 0.011 ....
0.000 to 0.004 ....
emcdonald on DSK5VPTVN1PROD with RULES3
Mean LCC Savings ** (2009$)
Built-in
Built-in
Built-in
Built-in
All-Refrigerators ...............................
Bottom-Mount Refrigerator-Freezers
Side-by-Side Refrigerator-Freezers
Upright Freezers ..............................
52 .......................
8 .........................
10 .......................
66 .......................
71 .......................
2 .........................
10 .......................
59 .......................
Median PBP (years)
Built-in
Built-in
Built-in
Built-in
All-Refrigerators ...............................
Bottom-Mount Refrigerator-Freezers
Side-by-Side Refrigerator-Freezers
Upright Freezers ..............................
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3.8
7.5
2.9
......................
......................
......................
......................
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11.1 ....................
7.5 ......................
10.7 ....................
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....................
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57603
TABLE VI.76—SUMMARY OF RESULTS FOR BUILT-IN REFRIGERATION PRODUCTS—Continued
Category
TSL 1
TSL 2
TSL 3
TSL 4
TSL 5
Distribution of Consumer LCC Impacts
Built-in All-Refrigerators:
Net Cost (%) .........................................
No Impact (%) .......................................
Net Benefit (%) .....................................
Built-in Bottom-Mount Refrigerator-Freezers:
Net Cost (%) .........................................
No Impact (%) .......................................
Net Benefit (%) .....................................
Built-in Side-by-Side Refrigerator-Freezers:
Net Cost (%) .........................................
No Impact (%) .......................................
Net Benefit (%) .....................................
Built-in Upright Freezers:
Net Cost (%) .........................................
No Impact (%) .......................................
Net Benefit (%) .....................................
Generation Capacity Reduction (GW) † ......
0.0 ......................
23 .......................
77. ......................
0.9 ......................
18. ......................
81 .......................
62 .......................
9.1 ......................
29 .......................
91 .......................
0.0 ......................
9.0 ......................
95.
0.0.
5.0.
0.6 ......................
87 .......................
12 .......................
7.0 ......................
87 .......................
5.9 ......................
7.0 ......................
87 .......................
5.9 ......................
98 .......................
0.0 ......................
2.0 ......................
99.
0.0.
1.5.
5.8 ......................
79 .......................
16 .......................
5.8 ......................
79 .......................
16 .......................
59 .......................
37 .......................
4.3 ......................
59 .......................
37 .......................
4.3 ......................
98.
0.0.
2.4.
1.5 ......................
20 .......................
79 .......................
0.02 ....................
43 .......................
0.6 ......................
57 .......................
0.03 ....................
69 .......................
0.5 ......................
31 .......................
0.06 ....................
69 .......................
0.5 ......................
31 .......................
0.08 ....................
80.
0.3.
20.
0.09.
Employment Impacts
Total Potential Changes in Domestic Production Workers in 2014 (thousands).
Indirect Domestic Jobs (thousands) † ..........
0.00 to (1.14) ......
(0.00) to (1.14) ...
0.01 to (1.14) ......
0.01 to (1.14) ......
0.03 to (1.14).
0.14 ....................
0.19 ....................
0.29 ....................
0.31 ....................
0.30.
emcdonald on DSK5VPTVN1PROD with RULES3
Parentheses indicate negative (¥) values.
Range of the economic value of CO2 reductions is based on estimates of the global benefit of reduced CO2 emissions.
** For LCCs, a negative value means an increase in LCC by the amount indicated.
† Changes in 2043.
DOE first considered TSL 5, which
represents the max-tech efficiency
levels. TSL 5 would save 0.085 quads of
energy, an amount DOE considers
significant. Under TSL 5, the NPV of
consumer benefit would be ¥$0.791
billion to ¥$0.495 billion, using a
discount rate of 7 percent, and ¥$1.14
billion to ¥$0.531 billion, using a
discount rate of 3 percent.
The cumulative emissions reductions
at TSL 5 are 6.09 Mt of CO2, 4,900 tons
of NOX, and 0.03 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 5 ranges from $0.051 billion to
$0.50 billion. Total generating capacity
in 2043 is estimated to decrease by 0.09
GW under TSL 5.
At TSL 5, the average LCC impact is
a cost (LCC increase) of $258 for builtin all-refrigerators, a cost of $207 for
built-in bottom-mount refrigeratorfreezers, a cost of $182 for built-in sideby-side refrigerator-freezers, and a cost
of $101 for built-in upright freezers. The
median payback period is 31.4 years for
built-in all-refrigerators, 52.2 years for
built-in bottom-mount refrigeratorfreezers, 50.4 years for built-in side-byside refrigerator-freezers, and 22.6 years
for built-in upright freezers. The fraction
of consumers experiencing an LCC
benefit is 5 percent for built-in allrefrigerators, 1.5 percent for built-in
bottom-mount refrigerator-freezers, 2.4
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percent for built-in side-by-side
refrigerator-freezers, and 20 percent for
built-in upright freezers. The fraction of
consumers experiencing an LCC cost is
95 percent for built-in all-refrigerators,
99 percent for built-in bottom-mount
refrigerator-freezers, 98 percent for
built-in side-by-side refrigeratorfreezers, and 80 percent for built-in
upright freezers.
At TSL 5, the projected change in
INPV ranges from a decrease of $89.9
million to a decrease of $112.1 million.
If the high end of the range of impacts
is reached as DOE expects, TSL 5 could
result in a net loss of 20.2 percent in
INPV to built-in refrigeration product
manufacturers.
The Secretary has concluded that at
TSL 5 for built-in refrigeration products,
the benefits of energy savings,
generating capacity reductions,
emission reductions, and the estimated
monetary value of the CO2 emissions
reductions would be outweighed by the
negative NPV of consumer benefits, the
economic burden on a significant
fraction of consumers due to the large
increases in product cost, and the
capital conversion costs and profit
margin impacts that could result in a
reduction in INPV for the
manufacturers. Consequently, the
Secretary has concluded that TSL 5 is
not economically justified.
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DOE then considered TSL 4. TSL 4
would save 0.071 quads of energy, an
amount DOE considers significant.
Under TSL 4, the NPV of consumer
benefit would be ¥$0.455 billion to
¥$0.261 billion, using a discount rate of
7 percent, and ¥$0.580 billion to
¥$0.185 billion, using a discount rate of
3 percent.
The cumulative emissions reductions
at TSL 4 are 5.09 Mt of CO2, 4,090 tons
of NOX, and 0.02 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reductions at
TSL 4 ranges from $0.043 billion to
$0.41 billion. Total generating capacity
in 2043 is estimated to decrease by 0.08
GW under TSL 4.
At TSL 4, DOE projects that the
average LCC impact is a cost (LCC
increase) of $151 for built-in allrefrigerators, a cost of $138 for built-in
bottom-mount refrigerator-freezers, a
cost of $91 for built-in side-by-side
refrigerator-freezers, and a cost of $23
for built-in upright freezers. The median
payback period is 25.5 years for built-in
all-refrigerators, 52.8 years for built-in
bottom-mount refrigerator-freezers, 31.0
years for built-in side-by-side
refrigerator-freezers, and 17.8 years for
built-in upright freezers. The fraction of
consumers experiencing an LCC benefit
is 9 percent for built-in all-refrigerators,
2 percent for built-in bottom-mount
refrigerator-freezers, 4.3 percent for
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built-in side-by-side refrigeratorfreezers, and 31 percent for built-in
upright freezers. The fraction of
consumers experiencing an LCC cost is
91 percent for built-in all-refrigerators,
98 percent for built-in bottom-mount
refrigerator-freezers, 59 percent for
built-in side-by-side refrigeratorfreezers, and 69 percent for built-in
upright freezers.
At TSL 4, the projected change in
INPV ranges from a decrease of $82.9
million to a decrease of $97.6 million.
If the high end of the range of impacts
is reached as DOE expects, TSL 4 could
result in a net loss of 17.6 percent in
INPV to built-in refrigeration product
manufacturers.
The Secretary has concluded that at
TSL 4 for built-in refrigeration products,
the benefits of energy savings,
generating capacity reductions,
emission reductions, and the estimated
monetary value of the CO2 emissions
reductions would be outweighed by the
negative NPV of consumer benefits, the
economic burden on a significant
fraction of consumers due to the
increases in product cost, and the
capital conversion costs and profit
margin impacts that could result in a
reduction in INPV for the
manufacturers. Consequently, the
Secretary has concluded that TSL 4 is
not economically justified.
DOE then considered TSL 3. TSL 3
would save 0.058 quads of energy, an
amount DOE considers significant.
Under TSL 3, the NPV of consumer
benefit would be ¥0.237 billion to
¥$0.111 billion, using a discount rate of
7 percent, and ¥$0.228 billion to
$0.029 billion, using a discount rate of
3 percent.
The cumulative emissions reductions
at TSL 3 are 4.1 Mt of CO2, 3,300 tons
of NOX, and 0.02 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reduction at
TSL 3 ranges from $0.035 billion to
$0.34 billion. Total generating capacity
in 2043 is estimated to decrease by 0.06
GW under TSL 3.
At TSL 3, the average LCC impact is
a cost (LCC increase) of $11 for built-in
all-refrigerators, a gain of $2 for built-in
bottom-mount refrigerator-freezers, a
cost of $91 for built-in side-by-side
refrigerator-freezers, and a cost of $23
for built-in upright freezers. The median
payback period is 13.7 years for built-in
all-refrigerators, 11.1 years for built-in
bottom-mount refrigerator-freezers, 31.0
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years for built-in side-by-side
refrigerator-freezers, and 17.8 years for
built-in upright freezers. The fraction of
consumers experiencing an LCC benefit
is 29 percent for built-in allrefrigerators, 5.9 percent for built-in
bottom-mount refrigerator-freezers, 4.3
percent for built-in side-by-side
refrigerator-freezers, and 31 percent for
built-in upright freezers. The fraction of
consumers experiencing an LCC cost is
62 percent for built-in all-refrigerators, 7
percent for built-in bottom-mount
refrigerator-freezers, 59 percent for
built-in side-by-side refrigeratorfreezers, and 69 percent for built-in
upright freezers.
At TSL 3, the projected change in
INPV ranges from a decrease of $68.0
million to a decrease of $77.2 million.
If the high end of the range of impacts
is reached as DOE expects, TSL 3 could
result in a net loss of 13.9 percent in
INPV to built-in refrigeration product
manufacturers.
The Secretary has concluded that at
TSL 3 for built-in refrigeration products,
the benefits of energy savings,
generating capacity reductions,
emission reductions, and the estimated
monetary value of the CO2 emissions
reductions would be outweighed by the
negative NPV of of consumer benefits,
the slight economic burden on a
significant fraction of consumers due to
the increases in product cost, and the
capital conversion costs and profit
margin impacts that could result in a
reduction in INPV for the
manufacturers. Consequently, the
Secretary has concluded that TSL 3 is
not economically justified.
DOE then considered TSL 2. TSL 2
would save 0.03 quads of energy, an
amount DOE considers significant.
Under TSL 2, the NPV of consumer
benefit would be $0.045 billion to
$0.066 billion, using a discount rate of
7 percent, and $0.183 billion to $0.226
billion, using a discount rate of 3
percent.
The cumulative emissions reductions
at TSL 2 are 2.05 Mt of CO2, 1,650 tons
of NOX, and 0.01 tons of Hg. The
estimated monetary value of the
cumulative CO2 emissions reduction at
TSL 2 ranges from $0.017 billion to
$0.17 billion. Total generating capacity
in 2043 is estimated to decrease by 0.03
GW under TSL 2.
At TSL 2, the average LCC impact is
a gain (LCC decrease) of $71 for builtin all-refrigerators, a gain of $2 for built-
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Fmt 4701
Sfmt 4700
in bottom-mount refrigerator-freezers, a
gain of $10 for built-in side-by-side
refrigerator-freezers, and a gain of $59
for built-in upright freezers. The median
payback period is 2.6 years for built-in
all-refrigerators, 11.1 years for built-in
bottom-mount refrigerator-freezers, 7.5
years for built-in side-by-side
refrigerator-freezers, and 10.7 years for
built-in upright freezers. The fraction of
consumers experiencing an LCC benefit
is 81 percent for built-in allrefrigerators, 5.9 percent for built-in
bottom-mount refrigerator-freezers, 16
percent for built-in side-by-side
refrigerator-freezers, and 57 percent for
built-in upright freezers. The fraction of
consumers experiencing an LCC cost is
0.9 percent for built-in all-refrigerators,
7 percent for built-in bottom-mount
refrigerator-freezers, 5.8 percent for
built-in side-by-side refrigeratorfreezers, and 43 percent for built-in
upright freezers.
At TSL 2, the projected change in
INPV ranges from a decrease of $55.1
million to a decrease of $56.5 million.
If the high end of the range of impacts
is reached as DOE expects, TSL 2 could
result in a net loss of 10.2 percent in
INPV to built-in refrigeration product
manufacturers.
The Secretary has concluded that at
TSL 2 for built-in refrigeration products,
the benefits of energy savings, positive
NPV of consumer benefits, generating
capacity reductions, emission
reductions, and the estimated monetary
value of the CO2 emissions reductions
would outweigh the slight economic
burden on a small fraction of consumers
due to the increases in product cost, and
the capital conversion costs and profit
margin impacts that could result in a
reduction in INPV for the
manufacturers.
After considering the analysis,
comments responding to the September
2010 NOPR, and the benefits and
burdens of TSL 2, the Secretary has
concluded that this trial standard level
will offer the maximum improvement in
efficiency that is technologically
feasible and economically justified, and
will result in significant conservation of
energy. Therefore, DOE today is
adopting TSL 2 for built-in refrigeration
products. The amended energy
conservation standards for built-in
refrigeration products, expressed as
equations for maximum energy use, are
shown in Table VI.77.
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57605
TABLE VI.77—AMENDED STANDARDS FOR BUILT-IN REFRIGERATION PRODUCTS
Equations for maximum energy use
(kWh/yr)
Product class
Based on AV (ft3)
3–BI. Built-in Refrigerator-freezer—automatic defrost with top-mounted freezer without an automatic
icemaker.
3I–BI. Built-in Refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic
icemaker without through-the-door ice service.
3A–BI. Built-in All-refrigerators—automatic defrost ..................................................................................
4–BI. Built-In Refrigerator-freezers—automatic defrost with side-mounted freezer without an automatic icemaker.
4I–BI. Built-In Refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic
icemaker without through-the-door ice service.
5–BI. Built-In Refrigerator-freezers—automatic defrost with bottom-mounted freezer without an automatic icemaker.
5I–BI. Built-In Refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic icemaker without through-the-door ice service.
5A–BI. Built-in Refrigerator-freezer—automatic defrost with bottom-mounted freezer with through-thedoor ice service.
7–BI. Built-In Refrigerator-freezers—automatic defrost with side-mounted freezer with through-thedoor ice service.
9–BI. Built-In Upright freezers with automatic defrost without an automatic icemaker ...........................
9I–BI. Built-in Upright freezers with automatic defrost with an automatic icemaker ...............................
Based on av (L)
9.15AV + 264.9 .....
0.323av + 264.9
9.15AV + 348.9 .....
0.323av + 348.9
8.02AV + 228.5 .....
10.22AV + 357.4 ...
0.283av + 228.5
0.361av + 357.4
10.22AV + 441.4 ...
0.361av + 441.4
9.40AV + 336.9 .....
0.332av + 336.9
9.40AV + 420.9 .....
0.332av + 420.9
9.83AV + 499.9 .....
0.347av + 499.9
10.25AV + 502.6 ...
0.362av + 502.6
9.86AV + 260.9 .....
9.86AV + 344.9 .....
0.348av + 260.9
0.348av + 344.9
AV= adjusted volume in cubic feet; av = adjusted volume in liters.
5. Summary of Benefits and Costs
(Annualized) of Amended Standards
The benefits and costs of today’s
amended standards can also be
expressed in terms of annualized values.
The annualized monetary values are the
sum of (1) the annualized national
economic value, expressed in 2009$, of
the benefits from operating products
that meet the amended standards
(consisting primarily of operating cost
savings from using less energy, minus
increases in equipment purchase costs,
which is another way of representing
consumer NPV), and (2) the monetary
value of the benefits of emission
reductions, including CO2 emission
reductions.49 The value of the CO2
reductions (i.e. SCC) is calculated using
a range of values per metric ton of CO2
developed by a recent interagency
process. The monetary costs and
benefits of cumulative emissions
reductions are reported in 2009$ to
permit comparisons with the other costs
and benefits in the same dollar units.
Although combining the values of
operating savings and CO2 reductions
provides a useful perspective, two
issues should be considered. First, the
national operating savings are domestic
U.S. consumer monetary savings that
occur as a result of market transactions
while the value of CO2 reductions is
based on a global value. Second, the
assessments of operating cost savings
and SCC are performed with different
methods that use quite different time
frames for analysis. The national
operating cost savings is measured for
the lifetime of refrigeration products
shipped in 2014–2043. The SCC values,
on the other hand, reflect the present
value of future climate-related impacts
resulting from the emission of one ton
of carbon dioxide in each year. These
impacts continue well beyond 2100.
Estimates of annualized values are
shown in Table VI.78. The results under
the primary estimate are as follows.
Using a 7-percent discount rate and the
SCC series having a value of $22.1/ton
in 2010 (in 2009$), the cost of the
standards in today’s rule is $1,167 to
$1,569 million per year in increased
equipment costs, while the annualized
benefits are $2,275 million per year in
reduced equipment operating costs,
$515 million in CO2 reductions, and $21
million in reduced NOX emissions. In
this case, the net benefit amounts to
$1,241 to $1,643 million per year. Using
a 3-percent discount rate and the SCC
series having a value of $22.1/ton in
2010, the cost of the standards in
today’s rule is $1,081 to $1,526 million
per year in increased equipment costs,
while the benefits are $3,160 million per
year in reduced operating costs, $515
million in CO2 reductions, and $28
million in reduced NOX emissions. In
this case, the net benefit amounts to
$2,176 to $2,622 million per year.
TABLE VI–78—ANNUALIZED BENEFITS AND COSTS OF AMENDED STANDARDS FOR REFRIGERATION PRODUCTS SOLD IN
2014–2043
Monetized (million 2009$/year)
Discount rate
emcdonald on DSK5VPTVN1PROD with RULES3
Primary estimate *
Benefits:
Operating Cost Savings ............................
49 DOE used a two-step calculation process to
convert the time-series of costs and benefits into
annualized values. First, DOE calculated a present
value in 2010, the year used for discounting the
NPV of total consumer costs and savings, for the
time-series of costs and benefits using discount
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7% .............................
3% .............................
Low net benefits
estimate *
2275 ..........................
3160 ..........................
1996 ..........................
2720 ..........................
rates of three and seven percent for all costs and
benefits except for the value of CO2 reductions. For
the latter, DOE used a range of discount rates, as
shown in Table I.2. From the present value, DOE
then calculated the fixed annual payment over a 30year period (2014 through 2043) that yields the
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Fmt 4701
Sfmt 4700
High net benefits
estimate *
2560.
3596.
same present value. The fixed annual payment is
the annualized value. Although DOE calculated
annualized values, this does not imply that the
time-series of cost and benefits from which the
annualized values were determined is a steady
stream of payments.
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TABLE VI–78—ANNUALIZED BENEFITS AND COSTS OF AMENDED STANDARDS FOR REFRIGERATION PRODUCTS SOLD IN
2014–2043—Continued
Monetized (million 2009$/year)
Discount rate
Primary estimate *
CO2 Reduction at $4.9/t ** ...............................
CO2 Reduction at $22.1/t ** .............................
CO2 Reduction at $36.3/t ** .............................
CO2 Reduction at $67.1/t ** .............................
NOX Reduction at $2,519/ton ** .......................
Total † .......................................................
Costs:
Incremental Product Costs .......................
Net Benefits/Costs:
Total † .......................................................
Low net benefits
estimate *
5% .............................
3% .............................
2.5% ..........................
3% .............................
7% .............................
3% .............................
7% plus CO2 range ...
7% .............................
3% .............................
3% plus CO2 range ...
162 ............................
515 ............................
772 ............................
1567 ..........................
21 ..............................
28 ..............................
2457 to 3863 .............
2810 ..........................
3703 ..........................
3350 to 4755 .............
162 ............................
515 ............................
772 ............................
1567 ..........................
21 ..............................
28 ..............................
2178 to 3584 .............
2531 ..........................
3263 ..........................
2910 to 4315 .............
162.
515.
772.
1567.
21.
28.
2742 to 4148.
3095.
4139.
3786 to 5192.
7% .............................
3% .............................
1167 to 1569 .............
1081 to 1526 .............
1480 ..........................
1430 ..........................
1232.
1147.
7%
7%
3%
3%
888 to 2696 ...............
1241 to 1643 .............
2176 to 2622 .............
1823 to 3674 .............
698 to 2103 ...............
1051 ..........................
1832 ..........................
1479 to 2885 .............
1511 to 2916.
1863.
2993.
2640 to 4045.
plus CO2 range ...
.............................
.............................
plus CO2 range ...
High net benefits
estimate *
* The Primary, Low Benefits, and High Benefits Estimates utilize forecasts of energy prices and housing starts from the AEO2010 Reference
case, Low Economic Growth case, and High Economic Growth case, respectively. In addition, incremental product costs reflect a medium decline rate for product prices in the Primary Estimate, a low decline rate for product prices in the Low Benefits Estimate, and a high decline rate
for product prices in the High Benefits Estimate. In the Primary estimate, the range of results for incremental product costs reflects the range of
product price forecasts.
** The CO2 values represent global values (in 2009$) of the social cost of CO2 emissions in 2010 under several scenarios. The values of $4.9,
$22.1, and $36.3 per metric ton (t) are the averages of SCC distributions calculated using 5%, 3%, and 2.5% discount rates, respectively. The
value of $67.1/t represents the 95th percentile of the SCC distribution calculated using a 3% discount rate. The value for NOX (in 2009$) is the
average of the low and high values used in DOE’s analysis.
† Total Benefits for both the 3% and 7% cases are derived using the SCC value calculated at a 3% discount rate, which is $22.1/t in 2010 (in
2009$). In the rows labeled as ‘‘7% plus CO2 range’’ and ‘‘3% plus CO2 range,’’ the operating cost and NOX benefits are calculated using the labeled discount rate, and those values are added to the full range of CO2 values.
emcdonald on DSK5VPTVN1PROD with RULES3
VII. Procedural Issues and Regulatory
Review
A. Review Under Executive Order 12866
and 13563
Section 1(b)(1) of Executive Order
12866, ‘‘Regulatory Planning and
Review,’’ 58 FR 51735 (Oct. 4, 1993),
requires each agency to identify the
problem that it intends to address,
including, where applicable, the failures
of private markets or public institutions
that warrant new agency action, as well
as to assess the significance of that
problem. The problems that today’s
standards address are as follows:
(1) There is a lack of consumer
information and/or information
processing capability about energy
efficiency opportunities in the home
appliance market.
(2) There is asymmetric information
(one party to a transaction has more and
better information than the other) and/
or high transactions costs (costs of
gathering information and effecting
exchanges of goods and services).
(3) There are external benefits
resulting from improved energy
efficiency of refrigeration products that
are not captured by the users of such
products. These benefits include
externalities related to environmental
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19:11 Sep 14, 2011
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protection and energy security that are
not reflected in energy prices, such as
reduced emissions of greenhouse gases.
In addition, DOE has determined that
today’s regulatory action is an
‘‘economically significant regulatory
action’’ under section 3(f)(1) of
Executive Order 12866. Accordingly,
section 6(a)(3) of the Executive Order
requires that DOE prepare a regulatory
impact analysis (RIA) on today’s rule
and that the Office of Information and
Regulatory Affairs (OIRA) in the Office
of Management and Budget (OMB)
review this rule. DOE presented to OIRA
for review the draft rule and other
documents prepared for this
rulemaking, including the RIA, and has
included these documents in the
rulemaking record. The assessments
prepared pursuant to Executive Order
12866 can be found in the technical
support document for this rulemaking.
They are available for public review in
the Resource Room of DOE’s Building
Technologies Program, 950 L’Enfant
Plaza, SW., Suite 600, Washington, DC
20024, (202) 586–2945, between 9 a.m.
and 4 p.m., Monday through Friday,
except Federal holidays.
DOE has also reviewed this regulation
pursuant to Executive Order 13563,
issued on January 18, 2011 (76 FR 3281,
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Jan. 21, 2011). EO 13563 is
supplemental to, and explicitly
reaffirms the principles, structures, and
definitions governing regulatory review
established in, Executive Order 12866.
To the extent permitted by law, agencies
are required by Executive Order 13563
to: (1) Propose or adopt a regulation
only upon a reasoned determination
that its benefits justify its costs
(recognizing that some benefits and
costs are difficult to quantify); (2) tailor
regulations to impose the least burden
on society, consistent with obtaining
regulatory objectives, taking into
account, among other things, and to the
extent practicable, the costs of
cumulative regulations; (3) select, in
choosing among alternative regulatory
approaches, those approaches that
maximize net benefits (including
potential economic, environmental,
public health and safety, and other
advantages; distributive impacts; and
equity); (4) to the extent feasible, specify
performance objectives, rather than
specifying the behavior or manner of
compliance that regulated entities must
adopt; and (5) identify and assess
available alternatives to direct
regulation, including providing
economic incentives to encourage the
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desired behavior, such as user fees or
marketable permits, or providing
information upon which choices can be
made by the public.
We emphasize as well that Executive
Order 13563 requires agencies ‘‘to use
the best available techniques to quantify
anticipated present and future benefits
and costs as accurately as possible.’’ In
its guidance, the Office of Information
and Regulatory Affairs has emphasized
that such techniques may include
‘‘identifying changing future
compliance costs that might result from
technological innovation or anticipated
behavioral changes.’’
DOE emphasizes that Executive Order
13563 calls for ‘‘periodic review of
existing significant regulations,’’ with
close reference to empirical evidence.
Moreover, with respect to energy
conservation standards, EPCA mandates
that DOE review its regulations, ‘‘not
later than 6 years after issuance of any
final rule establishing or amending an
energy efficiency standard. As part of
the retrospective review, DOE will
review its data on refrigerator prices and
costs and, as part of that review, will
consider tracking additional data on
retail refrigerator prices and costs for the
product classes identified in the rule as
a means of comparing actual refrigerator
prices and costs to prices and costs
forecasted as a result of the standards
imposed by today’s and any future rule.
Such a review will likely be a part of the
periodic review of energy efficiency
standards for refrigerators called for
under Executive Order 13563. DOE’s
plan for conducting periodic review,
which will be updated regularly, should
be consulted for further information.
See: https://energy.gov/gc/reportappliance-regulation-violation/ex-partecommunications/restrospectiveregulatory-review.
For the reasons stated in the
preamble, DOE believes that today’s
final rule is consistent with these
principles, including that, to the extent
permitted by law, agencies adopt a
regulation only upon a reasoned
determination that its benefits justify its
costs and select, in choosing among
alternative regulatory approaches, those
approaches that maximize net benefits.
B. Review Under the Regulatory
Flexibility Act
The Regulatory Flexibility Act (5
U.S.C. 601 et seq.) requires preparation
of an initial regulatory flexibility
analysis (IRFA) for any rule that by law
must be proposed for public comment,
and a final regulatory flexibility analysis
(FRFA) for any such rule that an agency
adopts as a final rule, unless the agency
certifies that the rule, if promulgated,
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will not have a significant economic
impact on a substantial number of small
entities. As required by Executive Order
13272, ‘‘Proper Consideration of Small
Entities in Agency Rulemaking,’’ 67 FR
53461 (August 16, 2002), DOE
published procedures and policies on
February 19, 2003, to ensure that the
potential impacts of its rules on small
entities are properly considered during
the rulemaking process. 68 FR 7990.
DOE has made its procedures and
policies available on the Office of the
General Counsel’s Web site (https://
www.gc.doe.gov).
For manufacturers of residential
refrigerators, refrigerator-freezers, and
freezers, the Small Business
Administration (SBA) has set a size
threshold, which defines those entities
classified as ‘‘small businesses’’ for the
purposes of the statute. DOE used the
SBA’s small business size standards to
determine whether any small entities
would be subject to the requirements of
the rule. 65 FR 30836, 30850 (May 15,
2000), as amended at 65 FR 53533,
53545 (September 5, 2000) and codified
at 13 CFR part 121.The size standards
are listed by North American Industry
Classification System (NAICS) code and
industry description and are available at
https://www.sba.gov/idc/groups/public/
documents/sba_homepage/
serv_sstd_tablepdf.pdf . Residential
refrigeration product manufacturing is
classified under NAICS 335222,
‘‘Household Refrigerator and Home
Freezer Manufacturing.’’ The SBA sets a
threshold of 1,000 employees or less for
an entity to be considered as a small
business for this category.
DOE reviewed its September 2010
NOPR under the provisions of the
Regulatory Flexibility Act and the
procedure and policies published on
February 19, 2003. In the NOPR, DOE
certified that the standards for
residential refrigeration products set
forth in the proposed rule, if
promulgated, would not have a
significant economic impact on a
substantial number of small entities.
DOE made this determination because
only one small business manufacturer
would potentially be impacted by the
proposed energy conservation
standards, and that manufacturer
represents a small percentage of covered
products and is a leader in a niche
market. 75 FR at 59571–59572
(September 27, 2010).
DOE also sought comment on the
impacts of the proposed amended
energy conservation standards on small
business manufacturers of residential
refrigeration products. DOE received no
comments on the certification or its
additional requests for comment on
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57607
small business impacts in response to
the NOPR. Thus, DOE reaffirms the
certification and has not prepared a
FRFA for this final rule.
C. Review Under the Paperwork
Reduction Act
Manufacturers of refrigeration
products must certify to DOE that those
products comply with any applicable
energy conservation standard. In
certifying compliance, manufacturers
must test their refrigeration products
according to the DOE test procedure for
refrigeration products, including any
amendments adopted for that test
procedure. DOE has proposed
regulations for the certification and
recordkeeping requirements for all
covered consumer products and
commercial equipment, including
refrigeration products (i.e. refrigerators,
refrigerator-freezers, and freezers). 75 FR
56796 (Sept. 16, 2010). The information
collection requirement for the
certification and recordkeeping is
subject to review and approval by OMB
under the Paperwork Reduction Act
(PRA). DOE received OMB approval for
collecting certification, compliance, and
enforcement information for all covered
products and covered equipment on
February 3, 2011 under OMB control
number 1910–1400.
Public reporting burden for the
certification is estimated to average 20
hours per response, including the time
for reviewing instructions, searching
existing data sources, gathering and
maintaining the data needed, and
completing and reviewing the collection
of information. Send comments
regarding this burden estimate or any
other aspect of this collection of
information, including suggestions for
reducing this burden, to Office of the
Chief Information Officer, Records
Management Division, IM–23,
Paperwork Reduction Project (1910–
1400), U.S. Department of Energy, 1000
Independence Ave., SW., Washington,
DC 20585–1290; and to the Office of
Management and Budget (OMB), OIRA,
Paperwork Reduction Project (1910–
1400), Washington, DC 20503.
Notwithstanding any other provision
of the law, no person is required to
respond to, nor shall any person be
subject to a penalty for failure to comply
with, a collection of information subject
to the requirements of the PRA, unless
that collection of information displays a
currently valid OMB Control Number.
D. Review Under the National
Environmental Policy Act of 1969
DOE has prepared an environmental
assessment (EA) of the impacts of the
amended rule pursuant to the National
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Environmental Policy Act of 1969 (42
U.S.C. 4321 et seq.), the regulations of
the Council on Environmental Quality
(40 CFR parts 1500–1508), and DOE’s
regulations for compliance with the
National Environmental Policy Act of
1969 (10 CFR part 1021). This
assessment includes an examination of
the potential effects of emission
reductions likely to result from the rule
in the context of global climate change,
as well as other types of environmental
impacts. The final EA has been included
as chapter 15 of the final rule TSD.
Before issuing this final rule for
refrigeration products, DOE considered
public comments. A finding of no
significant impact (FONSI) accompanies
the final EA.
emcdonald on DSK5VPTVN1PROD with RULES3
E. Review Under Executive Order 13132
Executive Order 13132, ‘‘Federalism,’’
64 FR 43255 (August 10, 1999) imposes
certain requirements on agencies
formulating and implementing policies
or regulations that preempt State law or
that have federalism implications. The
Executive Order requires agencies to
examine the constitutional and statutory
authority supporting any action that
would limit the policymaking discretion
of the States and to carefully assess the
necessity for such actions. The
Executive Order also requires agencies
to have an accountable process to
ensure meaningful and timely input by
State and local officials in the
development of regulatory policies that
have federalism implications. On March
14, 2000, DOE published a statement of
policy describing the intergovernmental
consultation process it will follow in the
development of such regulations. 65 FR
13735. EPCA governs and prescribes
Federal preemption of State regulations
as to energy conservation for the
products that are the subject of today’s
final rule. States can petition DOE for
exemption from such preemption to the
extent, and based on criteria, set forth in
EPCA. (42 U.S.C. 6297) No further
action is required by Executive Order
13132.
F. Review Under Executive Order 12988
With respect to the review of existing
regulations and the promulgation of
new regulations, section 3(a) of
Executive Order 12988, ‘‘Civil Justice
Reform,’’ imposes on Federal agencies
the general duty to adhere to the
following requirements: (1) Eliminate
drafting errors and ambiguity; (2) write
regulations to minimize litigation; and
(3) provide a clear legal standard for
affected conduct rather than a general
standard and promote simplification
and burden reduction. 61 FR 4729
(February 7, 1996). Section 3(b) of
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Executive Order 12988 specifically
requires that Executive agencies make
every reasonable effort to ensure that the
regulation: (1) Clearly specifies the
preemptive effect, if any; (2) clearly
specifies any effect on existing Federal
law or regulation; (3) provides a clear
legal standard for affected conduct
while promoting simplification and
burden reduction; (4) specifies the
retroactive effect, if any; (5) adequately
defines key terms; and (6) addresses
other important issues affecting clarity
and general draftsmanship under any
guidelines issued by the Attorney
General. Section 3(c) of Executive Order
12988 requires Executive agencies to
review regulations in light of applicable
standards in section 3(a) and section
3(b) to determine whether they are met
or it is unreasonable to meet one or
more of them. DOE has completed the
required review and determined that, to
the extent permitted by law, this final
rule meets the relevant standards of
Executive Order 12988.
G. Review Under the Unfunded
Mandates Reform Act of 1995
Title II of the Unfunded Mandates
Reform Act of 1995 (UMRA) requires
each Federal agency to assess the effects
of Federal regulatory actions on State,
local, and Tribal governments and the
private sector. Public Law 104–4,
section 201 (codified at 2 U.S.C. 1531).
For an amended regulatory action likely
to result in a rule that may cause the
expenditure by State, local, and Tribal
governments, in the aggregate, or by the
private sector of $100 million or more
in any one year (adjusted annually for
inflation), section 202 of UMRA requires
a Federal agency to publish a written
statement that estimates the resulting
costs, benefits, and other effects on the
national economy. (2 U.S.C. 1532(a), (b))
The UMRA also requires a Federal
agency to develop an effective process
to permit timely input by elected
officers of State, local, and Tribal
governments on a ‘‘significant
intergovernmental mandate,’’ and
requires an agency plan for giving notice
and opportunity for timely input to
potentially affected small governments
before establishing any requirements
that might significantly or uniquely
affect small governments. On March 18,
1997, DOE published a statement of
policy on its process for
intergovernmental consultation under
UMRA. 62 FR 12820; also available at
https://www.gc.doe.gov.
Although today’s final rule does not
contain a Federal intergovernmental
mandate, it may impose expenditures of
$100 million or more on the private
sector. Specifically, the final rule will
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likely result in a final rule that could
impose expenditures of $100 million or
more. Such expenditures may include
(1) investment in research and
development and in capital
expenditures by refrigeration product
manufacturers in the years between the
final rule and the compliance date for
the new standard, and (2) incremental
additional expenditures by consumers
to purchase higher-efficiency
refrigeration products, starting in 2014.
Section 202 of UMRA authorizes an
agency to respond to the content
requirements of UMRA in any other
statement or analysis that accompanies
the final rule. 2 U.S.C. 1532(c). The
content requirements of section 202(b)
of UMRA relevant to a private sector
mandate substantially overlap the
economic analysis requirements that
apply under section 325(o) of EPCA and
Executive Order 12866. The
Supplementary Information section of
the notice of final rulemaking and the
‘‘Regulatory Impact Analysis’’ section of
the TSD for this final rule respond to
those requirements.
Under section 205 of UMRA, the
Department is obligated to identify and
consider a reasonable number of
regulatory alternatives before
promulgating a rule for which a written
statement under section 202 is required.
2 U.S.C. 1535(a). DOE is required to
select from those alternatives the most
cost-effective and least burdensome
alternative that achieves the objectives
of the rule unless DOE publishes an
explanation for doing otherwise or the
selection of such an alternative is
inconsistent with law. As required by 42
U.S.C. 6295(h) and (o), 6313(e), and
6316(a), today’s final rule would
establish energy conservation standards
for residential refrigeration products
that are designed to achieve the
maximum improvement in energy
efficiency that DOE has determined to
be both technologically feasible and
economically justified. A full discussion
of the alternatives considered by DOE is
presented in the ‘‘Regulatory Impact
Analysis’’ section of the TSD for today’s
final rule.
H. Review Under the Treasury and
General Government Appropriations
Act, 1999
Section 654 of the Treasury and
General Government Appropriations
Act, 1999 (Pub. L. 105–277) requires
Federal agencies to issue a Family
Policymaking Assessment for any rule
that may affect family well-being. This
rule would not have any impact on the
autonomy or integrity of the family as
an institution. Accordingly, DOE has
concluded that it is not necessary to
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prepare a Family Policymaking
Assessment.
I. Review Under Executive Order 12630
DOE has determined, under Executive
Order 12630, ‘‘Governmental Actions
and Interference with Constitutionally
Protected Property Rights’’ 53 FR 8859
(March 18, 1988), that this regulation
would not result in any takings that
might require compensation under the
Fifth Amendment to the U.S.
Constitution.
emcdonald on DSK5VPTVN1PROD with RULES3
J. Review Under the Treasury and
General Government Appropriations
Act, 2001
Section 515 of the Treasury and
General Government Appropriations
Act, 2001 (44 U.S.C. 3516, note)
provides for agencies to review most
disseminations of information to the
public under guidelines established by
each agency pursuant to general
guidelines issued by OMB. OMB’s
guidelines were published at 67 FR
8452 (February 22, 2002), and DOE’s
guidelines were published at 67 FR
62446 (October 7, 2002). DOE has
reviewed today’s final rule under the
OMB and DOE guidelines and has
concluded that it is consistent with
applicable policies in those guidelines.
K. Review Under Executive Order 13211
Executive Order 13211, ‘‘Actions
Concerning Regulations That
Significantly Affect Energy Supply,
Distribution, or Use’’ 66 FR 28355 (May
22, 2001), requires Federal agencies to
prepare and submit to OIRA at OMB, a
Statement of Energy Effects for any
significant energy action. A ‘‘significant
energy action’’ is defined as any action
by an agency that promulgates or is
expected to lead to promulgation of a
final rule, and that (1) Is a significant
regulatory action under Executive Order
12866, or any successor order; and (2)
is likely to have a significant adverse
effect on the supply, distribution, or use
of energy, or (3) is designated by the
Administrator of OIRA as a significant
energy action. For any significant energy
action, the agency must give a detailed
statement of any adverse effects on
energy supply, distribution, or use
should the proposal be implemented,
and of reasonable alternatives to the
action and their expected benefits on
energy supply, distribution, and use.
DOE has concluded that today’s
regulatory action, which sets forth
energy conservation standards for
refrigeration products, is not a
significant energy action because the
amended standards are not likely to
have a significant adverse effect on the
supply, distribution, or use of energy,
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57609
nor has it been designated as such by
the Administrator at OIRA. Accordingly,
DOE has not prepared a Statement of
Energy Effects on the final rule.
(GAO) and make them available to each
House of Congress.
L. Review Under the Information
Quality Bulletin for Peer Review
The Secretary of Energy has approved
publication of today’s amended rule.
On December 16, 2004, OMB, in
consultation with the Office of Science
and Technology (OSTP), issued its Final
Information Quality Bulletin for Peer
Review (the Bulletin). 70 FR 2664
(January 14, 2005). The Bulletin
establishes that certain scientific
information shall be peer reviewed by
qualified specialists before it is
disseminated by the Federal
Government, including influential
scientific information related to agency
regulatory actions. The purpose of the
bulletin is to enhance the quality and
credibility of the Government’s
scientific information. Under the
Bulletin, the energy conservation
standards rulemaking analyses are
‘‘influential scientific information,’’
which the Bulletin defines as ‘‘scientific
information the agency reasonably can
determine will have or does have a clear
and substantial impact on important
public policies or private sector
decisions.’’ 70 FR 2667.
In response to OMB’s Bulletin, DOE
conducted formal in-progress peer
reviews of the energy conservation
standards development process and
analyses and has prepared a Peer
Review Report pertaining to the energy
conservation standards rulemaking
analyses. Generation of this report
involved a rigorous, formal, and
documented evaluation using objective
criteria and qualified and independent
reviewers to make a judgment as to the
technical/scientific/business merit, the
actual or anticipated results, and the
productivity and management
effectiveness of programs and/or
projects. The ‘‘Energy Conservation
Standards Rulemaking Peer Review
Report’’ dated February 2007 has been
disseminated and is available at the
following Web site: https://
www1.eere.energy.gov/buildings/
appliance_standards/peer_review.html.
List of Subjects in 10 CFR Part 430
M. Congressional Notification
As required by 5 U.S.C. 801, DOE will
submit to Congress a report regarding
the issuance of today’s final rule prior
to the effective date set forth at the
outset of this notice. The report will
state that it has been determined that
the rule is a ‘‘major rule’’ as defined by
5 U.S.C. 804(2). DOE will also submit
the supporting analyses to the
Comptroller General in the U.S.
Government Accountability Office
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VIII. Approval of the Office of the
Secretary
Administrative practice and
procedure, Confidential business
information, Energy conservation,
Household appliances, Reporting and
recordkeeping requirements, and Small
businesses.
Issued in Washington, DC, on August 25,
2011.
Henry Kelly,
Acting Assistant Secretary, Energy Efficiency
and Renewable Energy.
For the reasons set forth in the
preamble, DOE amends chapter II,
subchapter D, of title 10 of the Code of
Federal Regulations, as set forth below:
PART 430—ENERGY CONSERVATION
PROGRAM FOR CONSUMER
PRODUCTS
1. The authority citation for Part 430
continues to read as follows:
■
Authority: 42 U.S.C. 6291–6309; 28 U.S.C.
2461 note.
2. In § 430.2, add the definition for
‘‘Built-in refrigerator/refrigeratorfreezer/freezer,’’ in alphabetical order,
and revise the definition for ‘‘Compact
refrigerator/refrigerator-freezer/freezer’’
to read as follows:
■
§ 430.2
Definitions.
*
*
*
*
*
Built-in refrigerator/refrigeratorfreezer/freezer means any refrigerator,
refrigerator-freezer or freezer with 7.75
cubic feet or greater total volume and 24
inches or less depth not including
doors, handles, and custom front panels;
with sides which are not finished and
not designed to be visible after
installation; and that is designed,
intended, and marketed exclusively (1)
To be installed totally encased by
cabinetry or panels that are attached
during installation, (2) to be securely
fastened to adjacent cabinetry, walls or
floor, and (3) to either be equipped with
an integral factory-finished face or
accept a custom front panel.
*
*
*
*
*
Compact refrigerator/refrigeratorfreezer/freezer means any refrigerator,
refrigerator-freezer or freezer with total
volume less than 7.75 cubic foot (220
liters) (rated volume as determined in
appendices A1 and B1 of subpart B of
this part before appendices A and B
become mandatory and as determined
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in appendices A and B of this subpart
once appendices A and B become
mandatory (see the notes at the
beginning of appendices A and B)).
*
*
*
*
*
3. In § 430.32 revise paragraph (a) to
read as follows:
■
§ 430.32 Energy and water conservation
standards and their effective dates.
*
*
*
*
*
(a) Refrigerators/refrigerator-freezers/
freezers. These standards do not apply
to refrigerators and refrigerator-freezers
with total refrigerated volume exceeding
39 cubic feet (1104 liters) or freezers
with total refrigerated volume exceeding
30 cubic feet (850 liters). The energy
standards as determined by the
equations of the following table(s) shall
be rounded off to the nearest kWh per
year. If the equation calculation is
halfway between the nearest two kWh
per year values, the standard shall be
rounded up to the higher of these
values.
The following standards remain in
effect from July 1, 2001 until September
15, 2014:
Energy standard
equations for maximum energy use
(kWh/yr)
Product class
1. Refrigerators and refrigerator-freezers with manual defrost ...................................................................................................
2. Refrigerator-freezers—partial automatic defrost ......................................................................................................................
3. Refrigerator-freezers—automatic defrost with top-mounted freezer without through-the-door ice service and all-refrigerator—automatic defrost.
4. Refrigerator-freezers—automatic defrost with side-mounted freezer without through-the-door ice service ...........................
5. Refrigerator-freezers—automatic defrost with bottom-mounted freezer without through-the-door ice service ......................
6. Refrigerator-freezers—automatic defrost with top-mounted freezer with through-the-door ice service .................................
7. Refrigerator-freezers—automatic defrost with side-mounted freezer with through-the-door ice service ................................
8. Upright freezers with manual defrost .......................................................................................................................................
9. Upright freezers with automatic defrost ...................................................................................................................................
10. Chest freezers and all other freezers except compact freezers ...........................................................................................
11. Compact refrigerators and refrigerator-freezers with manual defrost ...................................................................................
12. Compact refrigerator-freezer—partial automatic defrost .......................................................................................................
13. Compact refrigerator-freezers—automatic defrost with top-mounted freezer and compact all-refrigerator—automatic defrost.
14. Compact refrigerator-freezers—automatic defrost with side-mounted freezer ......................................................................
15. Compact refrigerator-freezers—automatic defrost with bottom-mounted freezer .................................................................
16. Compact upright freezers with manual defrost ......................................................................................................................
17. Compact upright freezers with automatic defrost ..................................................................................................................
18. Compact chest freezers .........................................................................................................................................................
8.82AV + 248.4
0.31av + 248.4
8.82AV + 248.4
0.31av + 248.4
9.80AV + 276.0
0.35av + 276.0
4.91AV + 507.5
0.17av + 507.5
4.60AV + 459.0
0.16av + 459.0
10.20AV + 356.0
0.36av + 356.0
10.10AV + 406.0
0.36av + 406.0
7.55AV + 258.3
0.27av + 258.3
12.43AV + 326.1
0.44av + 326.1
9.88AV + 143.7
0.35av + 143.7
10.70AV + 299.0
0.38av + 299.0
7.00AV + 398.0
0.25av + 398.0
12.70AV + 355.0
0.45av + 355.0
7.60AV + 501.0
0.27av + 501.0
13.10AV + 367.0
0.46av + 367.0
9.78AV + 250.8
0.35av + 250.8
11.40AV + 391.0
0.40av + 391.0
10.45AV + 152.0
0.37av + 152.0
AV: Adjusted Volume in ft3; av: Adjusted Volume in liters (L).
The following standards apply to
products manufactured starting on
September 14, 2014:
Equations for maximum energy use
(kWh/yr)
Product class
emcdonald on DSK5VPTVN1PROD with RULES3
Based on AV (ft3)
1. Refrigerator-freezers and refrigerators other than all-refrigerators with manual defrost .....................
1A. All-refrigerators—manual defrost .......................................................................................................
2. Refrigerator-freezers—partial automatic defrost ..................................................................................
3. Refrigerator-freezers—automatic defrost with top-mounted freezer without an automatic icemaker ..
3–BI. Built-in refrigerator-freezer—automatic defrost with top-mounted freezer without an automatic
icemaker.
3I. Refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic icemaker
without through-the-door ice service.
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7.99AV
6.79AV
7.99AV
8.07AV
9.15AV
+
+
+
+
+
225.0
193.6
225.0
233.7
264.9
.....
.....
.....
.....
.....
8.07AV + 317.7 .....
E:\FR\FM\15SER3.SGM
15SER3
Based on av (L)
0.282av
0.240av
0.282av
0.285av
0.323av
+
+
+
+
+
225.0
193.6
225.0
233.7
264.9
0.285av + 317.7
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Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
Equations for maximum energy use
(kWh/yr)
Product class
Based on AV (ft3)
3I–BI. Built-in refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic
icemaker without through-the-door ice service.
3A. All-refrigerators—automatic defrost ...................................................................................................
3A–BI. Built-in All-refrigerators—automatic defrost ..................................................................................
4. Refrigerator-freezers—automatic defrost with side-mounted freezer without an automatic icemaker
4–BI. Built-In Refrigerator-freezers—automatic defrost with side-mounted freezer without an automatic icemaker.
4I. Refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic icemaker
without through-the-door ice service.
4I–BI. Built-In Refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic
icemaker without through-the-door ice service.
5. Refrigerator-freezers—automatic defrost with bottom-mounted freezer without an automatic icemaker.
5–BI. Built-In Refrigerator-freezers—automatic defrost with bottom-mounted freezer without an automatic icemaker.
5I. Refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic icemaker
without through-the-door ice service.
5I–BI. Built-In Refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic icemaker without through-the-door ice service.
5A. Refrigerator-freezer—automatic defrost with bottom-mounted freezer with through-the-door ice
service.
5A–BI. Built-in refrigerator-freezer—automatic defrost with bottom-mounted freezer with through-thedoor ice service.
6. Refrigerator-freezers—automatic defrost with top-mounted freezer with through-the-door ice service.
7. Refrigerator-freezers—automatic defrost with side-mounted freezer with through-the-door ice service.
7–BI. Built-In Refrigerator-freezers—automatic defrost with side-mounted freezer with through-thedoor ice service.
8. Upright freezers with manual defrost ...................................................................................................
9. Upright freezers with automatic defrost without an automatic icemaker .............................................
9I. Upright freezers with automatic defrost with an automatic icemaker .................................................
9–BI. Built-In Upright freezers with automatic defrost without an automatic icemaker ...........................
9I–BI. Built-in upright freezers with automatic defrost with an automatic icemaker ................................
10. Chest freezers and all other freezers except compact freezers ........................................................
10A. Chest freezers with automatic defrost .............................................................................................
11. Compact refrigerator-freezers and refrigerators other than all-refrigerators with manual defrost .....
11A.Compact all-refrigerators—manual defrost .......................................................................................
12. Compact refrigerator-freezers—partial automatic defrost ..................................................................
13. Compact refrigerator-freezers—automatic defrost with top-mounted freezer ....................................
13I. Compact refrigerator-freezers—automatic defrost with top-mounted freezer with an automatic
icemaker.
13A. Compact all-refrigerators—automatic defrost ..................................................................................
14. Compact refrigerator-freezers—automatic defrost with side-mounted freezer ..................................
14I. Compact refrigerator-freezers—automatic defrost with side-mounted freezer with an automatic
icemaker.
15. Compact refrigerator-freezers—automatic defrost with bottom-mounted freezer ..............................
15I. Compact refrigerator-freezers—automatic defrost with bottom-mounted freezer with an automatic
icemaker.
16. Compact upright freezers with manual defrost ..................................................................................
17. Compact upright freezers with automatic defrost ..............................................................................
18. Compact chest freezers .....................................................................................................................
9.15AV + 348.9 .....
0.323av + 348.9
7.07AV + 201.6 .....
8.02AV + 228.5 .....
8.51AV + 297.8 .....
10.22AV + 357.4 ...
0.250av
0.283av
0.301av
0.361av
8.51AV + 381.8 .....
0.301av + 381.8
10.22AV + 441.4 ...
0.361av + 441.4
8.85AV + 317.0 .....
0.312av + 317.0
9.40AV + 336.9 .....
0.332av + 336.9
8.85AV + 401.0 .....
0.312av + 401.0
9.40AV + 420.9 .....
0.332av + 420.9
9.25AV + 475.4 .....
0.327av + 475.4
9.83AV + 499.9 .....
0.347av + 499.9
8.40AV + 385.4 .....
0.297av + 385.4
8.54AV + 432.8 .....
0.302av + 432.8
10.25AV + 502.6 ...
0.362av + 502.6
5.57AV + 193.7 .....
8.62AV + 228.3 .....
8.62AV + 312.3 .....
9.86AV + 260.9 .....
9.86AV + 344.9 .....
7.29AV + 107.8 .....
10.24AV + 148.1 ...
9.03AV + 252.3 .....
7.84AV + 219.1 .....
5.91AV + 335.8 .....
11.80AV + 339.2 ...
11.80AV + 423.2 ...
0.197av
0.305av
0.305av
0.348av
0.348av
0.257av
0.362av
0.319av
0.277av
0.209av
0.417av
0.417av
9.17AV + 259.3 .....
6.82AV + 456.9 .....
6.82AV + 540.9 .....
0.324av + 259.3
0.241av + 456.9
0.241av + 540.9
11.80AV + 339.2 ...
11.80AV + 423.2 ...
0.417av + 339.2
0.417av + 423.2
8.65AV + 225.7 .....
10.17AV + 351.9 ...
9.25AV + 136.8 .....
0.306av + 225.7
0.359av + 351.9
0.327av + 136.8
emcdonald on DSK5VPTVN1PROD with RULES3
AV = Total adjusted volume, expressed in ft3, as determined in appendices A and B of subpart B of this part.
av = Total adjusted volume, expressed in Liters.
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+
+
+
+
+
+
+
+
+
+
+
+
+
+
201.6
228.5
297.8
357.4
193.7
228.3
312.3
260.9
344.9
107.8
148.1
252.3
219.1
335.8
339.2
423.2
57612
Federal Register / Vol. 76, No. 179 / Thursday, September 15, 2011 / Rules and Regulations
*
*
*
*
*
[FR Doc. 2011–22329 Filed 9–14–11; 8:45 am]
BILLING CODE 6450–01–P
DEPARTMENT OF ENERGY
10 CFR Part 430
[Docket No. EERE–2009–BT–TP–0003]
RIN 1904–AB92
Energy Efficiency Program for
Consumer Products: Test Procedures
for Residential Refrigerators,
Refrigerator-Freezers, and Freezers
Office of Energy Efficiency and
Renewable Energy, Department of
Energy.
ACTION: Interim final rule; reopening of
comment period.
AGENCY:
This document announces a
limited reopening of the comment
period for interested parties seeking to
submit comments on the December 16,
2011 interim final rule to amend the test
procedures for residential refrigerators,
refrigerator-freezers, and freezers that
will apply to products that are
manufactured starting in 2014. The
comment period is extended until
October 17, 2011.
DATES: Comments must be submitted no
later than October 17, 2011.
ADDRESSES: Any comments submitted
must identify the ‘‘Interim Final Rule on
Test Procedures for Residential
Refrigerators, Refrigerator-Freezers, and
Freezers’’ and provide the appropriate
docket number EERE–2009–BT–TP–
0003 and/or RIN number 1904–AB92.
Comments may be submitted using any
of the following methods:
• Federal eRulemaking Portal: https://
www.regulations.gov. Follow the
instructions for submitting comments.
• E-mail: Refrig-2009-TP-0003@ee.
doe.gov. Include docket number EERE–
BT–TP–0003 and/or RIN number 1904–
AB92 in the subject line of the message.
• Mail: Ms. Brenda Edwards, U.S.
Department of Energy, Building
Technologies Program, Mail-stop EE–2J,
Interim Final Rule for Test Procedures
for Refrigerators and RefrigeratorFreezers, docket number EERE–2009–
BT–TP–0003 and/or RIN number 1904–
AB92, 1000 Independence Avenue, SW.,
Washington, DC 20585–0121. Please
submit one signed paper original.
• Hand Delivery/Courier: Ms. Brenda
Edwards, U.S. Department of Energy,
Building Technologies Program, 950
L’Enfant Plaza, SW., Suite 600,
Washington, DC 20024. Telephone:
(202) 586–2945. Please submit one
signed paper original.
emcdonald on DSK5VPTVN1PROD with RULES3
SUMMARY:
VerDate Mar<15>2010
19:11 Sep 14, 2011
Jkt 223001
The public may review copies of all
materials related to this rulemaking at
the U.S. Department of Energy, Resource
Room of the Building Technologies
Program, 950 L’Enfant Plaza, SW., Suite
600, Washington, DC, (202) 586–2945,
between 9 a.m. and 4 p.m., Monday
through Friday, except Federal holidays.
Please call Ms. Brenda Edwards at the
above telephone number for additional
information regarding visiting the
Resource Room.
FOR FURTHER INFORMATION CONTACT: Mr.
Lucas Adin, U.S. Department of Energy,
Office of Energy Efficiency and
Renewable Energy, Building
Technologies Program, EE–2J, 1000
Independence Avenue, SW.,
Washington, DC 20585–0121.
Telephone: (202) 287–1317. E-mail:
Lucas.Adin@ee.doe.gov.
Mr. Michael Kido, U.S. Department of
Energy, Office of the General Counsel,
GC–71, 1000 Independence Avenue,
SW., Washington, DC 20585–0121.
Telephone: (202) 586–8145. E-mail:
Michael.Kido@hq.doe.gov.
For information on how to submit or
review public comments, contact Ms.
Brenda Edwards, U.S. Department of
Energy, Office of Energy Efficiency and
Renewable Energy, Building
Technologies Program, EE–2J, 1000
Independence Avenue, SW.,
Washington, DC 20585–0121.
Telephone: (202) 586–2945. E-mail:
Brenda.Edwards@ee.doe.gov.
SUPPLEMENTARY INFORMATION: On
December 16, 2010, the U.S. Department
of Energy (DOE) published in the
Federal Register a Final Rule that
amended the test procedures for
residential refrigerators, refrigeratorfreezers, and freezers (collectively,
‘‘refrigeration products’’). 75 FR 78810.
The amended test procedures for
residential refrigerators and refrigeratorfreezers are found in 10 CFR part 430,
subpart B, appendix A1 and the test
procedures for residential freezers are
found in 10 CFR part 430, subpart B,
appendix B1. These revised test
procedures, which do not affect
measured energy use, became effective
on January 18, 2011. Consistent with 42
U.S.C. 6293(c)(2), however,
manufacturers do not need to use these
procedures for making representations
regarding energy usage until June 14,
2011.
Concurrently with this Final Rule,
DOE published an Interim Final Rule
establishing new amended test
procedures for these products,
Appendix A and Appendix B, that
incorporate the same revisions made to
Appendix A1 and Appendix B1. 75 FR
78810. The Interim Final Rule also
PO 00000
Frm 00098
Fmt 4701
Sfmt 4700
included amendments to these
procedures that will, once finalized,
apply to refrigeration products starting
in 2014. It also provided interested
parties with an opportunity to submit
comments on the Interim Final Rule by
February 14, 2011—i.e., an extra 60 days
within which to provide comment.
On February 7, 2011, prior to the
closing of that comment period, DOE
received an emailed request from the
Association of Home Appliance
Manufacturers (AHAM) requesting that
DOE extend the comment period
deadline to ‘‘30 days after the
[refrigeration products] standards final
rule is made available to the public.’’
That email noted that AHAM had also
consulted with the American Council
for an Energy Efficient Economy
regarding this request.
The AHAM request explained that the
group required additional time to
provide comment to the agency. AHAM
asserted that:
The Department released the test
procedure for refrigerator/freezers as a final
rule and interim final rule in order to allow
stakeholders to comment on the necessary
revisions to the energy conservation
standards. DOE’s strategy, as discussed with
AHAM, assumed that the standards final rule
would be released no later than the
statutorily mandated deadline of December
31, 2010. But that final rule has not been
released. Thus, stakeholders cannot provide
substantive comments and data on whether
the equations are accurate or require some
revision. (Emphasis in original.)
DOE notes that once it issues a final
rule promulgating the energy
conservation standards for a particular
product type, the agency is prohibited
by statute from altering those standards
in any way that would permit either an
increase in the maximum energy
consumption of that product or a
decrease in that product’s minimum
energy efficiency. See 42 U.S.C.
6295(o)(1). As a result, to the extent that
interested parties seek a wholesale
revision of the standards that DOE has
set, barring the presence of calculation
or typographical error, those standards
cannot be altered in a manner that
would result in refrigeration products
that consume more energy—or that are
less efficient.
However, to ensure that the test
procedure accurately captures as
reasonably as possible the energy
consumption of those products that are
addressed in the Interim Final Rule,
DOE is re-opening the comment period
for that test procedure proceeding to
enable interested parties to comment
given that the energy conservation
standards rule has been issued. The
purpose of this limited re-opening is to
E:\FR\FM\15SER3.SGM
15SER3
Agencies
[Federal Register Volume 76, Number 179 (Thursday, September 15, 2011)]
[Rules and Regulations]
[Pages 57516-57612]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2011-22329]
[[Page 57515]]
Vol. 76
Thursday,
No. 179
September 15, 2011
Part III
Department of Energy
-----------------------------------------------------------------------
10 CFR Part 430
Energy Conservation Program: Energy Conservation Standards for
Residential Refrigerators, Refrigerator-Freezers, and Freezers; Energy
Efficiency Program for Consumer Products: Test Procedures for
Residential Refrigerators, Refrigerator-Freezers, and Freezers; Final
Rules
Federal Register / Vol. 76 , No. 179 / Thursday, September 15, 2011 /
Rules and Regulations
[[Page 57516]]
-----------------------------------------------------------------------
DEPARTMENT OF ENERGY
10 CFR Part 430
[Docket Number EE-2008-BT-STD-0012]
RIN 1904-AB79
Energy Conservation Program: Energy Conservation Standards for
Residential Refrigerators, Refrigerator-Freezers, and Freezers
AGENCY: Office of Energy Efficiency and Renewable Energy, Department of
Energy.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: The Energy Policy and Conservation Act (EPCA) prescribes
energy conservation standards for various consumer products and
commercial and industrial equipment, including refrigerators,
refrigerator-freezers, and freezers. EPCA also requires the U.S.
Department of Energy (DOE) to determine if more stringent, amended
standards for these products are technologically feasible and
economically justified, and would save a significant amount of energy.
In this final rule, DOE is adopting more stringent energy conservation
standards for refrigerators, refrigerator-freezers, and freezers. It
has determined that the amended energy conservation standards for these
products would result in the significant conservation of energy and are
technologically feasible and economically justified.
DATES: The effective date of this rule is November 14, 2011. Compliance
with the amended standards established for refrigerators, refrigerator-
freezers, and freezers in today's final rule is September 15, 2014.
ADDRESSES: For access to the docket to read background documents, the
technical support document, transcripts of the public meetings in this
proceeding, or comments received, visit the U.S. Department of Energy,
Resource Room of the Building Technologies Program, 950 L'Enfant Plaza,
SW., 6th Floor, Washington, DC 20024, (202) 586-2945, between 9 a.m.
and 4 p.m., Monday through Friday, except Federal holidays. Please call
Ms. Brenda Edwards at the above telephone number for additional
information regarding visiting the Resource Room. You may also obtain
copies of certain previous rulemaking documents in this proceeding
(i.e., framework document, notice of public meeting and announcement of
a preliminary technical support document (TSD), notice of proposed
rulemaking), draft analyses, public meeting materials, and related test
procedure documents from the Office of Energy Efficiency and Renewable
Energy's Web site at: https://www1.eere.energy.gov/buildings/appliance_standards/residential/refrigerators_freezers.html.
FOR FURTHER INFORMATION CONTACT: Lucas Adin, U.S. Department of Energy,
Office of Energy Efficiency and Renewable Energy, Building Technologies
Program, EE-2J, 1000 Independence Avenue, SW., Washington, DC 20585-
0121, 202-287-1317, e-mail: Lucas.Adin@ee.doe.gov or Michael Kido, U.S.
Department of Energy, Office of the General Counsel, GC-71, 1000
Independence Avenue, SW., Washington, DC 20585-0121, (202) 586-9507, e-
mail: Micahel.Kido@hq.doe.gov.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Summary of the Final Rule and Its Benefits
II. Introduction
A. Authority
B. Background
1. Current Standards
2. History of Standards Rulemaking for Refrigerators,
Refrigerator-Freezers, and Freezers
III. General Discussion
A. Test Procedures
1. Test Procedure Rulemaking Schedule
2. Adjustment of the Energy Standards for the New Test Procedure
a. Products with Variable Anti-Sweat Heater Control
b. Products With Multiple Defrost Cycle Types
c. Amendments To Capture Precooling Energy Use
d. Test Procedures for Special Compartments
3. Standby and Off Mode Energy Use
B. Technological Feasibility
1. General
2. Maximum Technologically Feasible Levels
C. Energy Savings
1. Determination of Savings
2. Significance of Savings
D. Economic Justification
1. Specific Criteria
a. Economic Impact on Manufacturers and Consumers
b. Life-Cycle Costs
c. Energy Savings
d. Lessening of Utility or Performance of Products
e. Impact of Any Lessening of Competition
f. Need for National Energy Conservation
g. Other Factors
2. Rebuttable Presumption
IV. Methodology and Discussion
A. Market and Technology Assessment
1. Exclusion of Wine Coolers From This Rulemaking
2. Product Classes
a. General Discussion Regarding Added Product Classes
b. Possible Combination of Product Class 2 With 1, and Class 12
With 11
c. All-Refrigerators and Basic Refrigerators
d. Built-In Refrigeration Products
e. Modification of the Definition for Compact Products
f. Icemaking
B. Screening Analysis
1. Discussion of Comments
a. Compressors
b. Alternative Refrigerants
c. Alternative Foam-Blowing Agents
d. Vacuum-Insulated Panels
2. Technologies Considered
C. Engineering Analysis
1. Discussion of Comments
2. Adjustment of the Baseline Energy Use Equations
D. Markups To Determine Product Cost
E. Energy Use Analysis
F. Life-Cycle Cost and Payback Period Analyses
1. Product Cost
2. Installation Cost
3. Annual Energy Consumption
4. Energy Prices
5. Energy Price Projections
6. Maintenance and Repair Costs
7. Product Lifetime
8. Discount Rates
9. Compliance Date of Amended Standards
10. Base Case Efficiency Distribution
11. Inputs to Payback Period Analysis
12. Rebuttable-Presumption Payback Period
G. National Impact Analysis--National Energy Savings and Net
Present Value Analysis
1. Shipments
2. Forecasted Efficiency in the Base Case and Standards Cases
3. Installed Cost per Unit
4. Site-to-Source Energy Conversion
5. Discount Rates
6. Benefits From Effects of Standards on Energy Prices
H. Consumer Subgroup Analysis
I. Manufacturer Impact Analysis
1. Comments From Interested Parties
2. GRIM Key Inputs
a. Product and Capital Conversion Costs
b. Markup Scenarios
3. Manufacturer Interviews
J. Employment Impact Analysis
K. Utility Impact Analysis
L. Environmental Assessment
M. Monetizing Carbon Dioxide and Other Emissions Impacts
1. Social Cost of Carbon
a. Monetizing Carbon Dioxide Emissions
b. Social Cost of Carbon Values Used in Past Regulatory Analyses
c. Current Approach and Key Assumptions
2. Valuation of Other Emissions Reductions
V. Discussion of Other Comments
A. Demand Response
B. Energy Standard Round-Off
C. Trial Standard Levels and Proposed Standards
1. Efficiency Levels
2. Maximum Energy Use Equations
VI. Analytical Results
A. Trial Standard Levels
B. Economic Justification and Energy Savings
1. Economic Impacts on Individual Consumers
a. Life-Cycle Cost and Payback Period
[[Page 57517]]
b. Consumer Subgroup Analysis
c. Rebuttable Presumption Payback
2. Economic Impacts on Manufacturers
a. Cash-Flow Analysis Results
b. Impacts on Employment
c. Impacts on Manufacturing Capacity
d. Impacts on Sub-Group(s) of Manufacturers
e. Cumulative Regulatory Burden
3. National Impact Analysis
a. Significance of Energy Savings
b. Net Present Value of Consumer Costs and Benefits
c. Indirect Impacts on Employment
4. Impact on Utility or Performance of Products
5. Impact of Any Lessening of Competition
6. Need of the Nation To Conserve Energy
7. Other Factors
C. Conclusion
1. Standard-Size Refrigerator-Freezers
2. Standard-Size Freezers
3. Compact Refrigeration Products
4. Built-In Refrigeration Products
5. Summary of Benefits and Costs (Annualized) of Amended
Standards
VII. Procedural Issues and Regulatory Review
A. Review Under Executive Order 12866 and 13563
B. Review Under the Regulatory Flexibility Act
C. Review Under the Paperwork Reduction Act
D. Review Under the National Environmental Policy Act of 1969
E. Review Under Executive Order 13132
F. Review Under Executive Order 12988
G. Review Under the Unfunded Mandates Reform Act of 1995
H. Review Under the Treasury and General Government
Appropriations Act, 1999
I. Review Under Executive Order 12630
J. Review Under the Treasury and General Government
Appropriations Act, 2001
K. Review Under Executive Order 13211
L. Review Under the Information Quality Bulletin for Peer Review
M. Congressional Notification
VIII. Approval of the Office of the Secretary
I. Summary of the Final Rule and Its Benefits
The Energy Policy and Conservation Act (42 U.S.C. 6291, et seq.;
EPCA or the Act), as amended, provides that any new or amended energy
conservation standard DOE prescribes for certain consumer products,
such as residential refrigerators, refrigerator-freezers, and freezers
(collectively referred to in this document as ``refrigeration
products''), shall be designed to ``achieve the maximum improvement in
energy efficiency * * * which the Secretary determines is
technologically feasible and economically justified.'' (42 U.S.C.
6295(o)(2)(A)) The new or amended standard must result in the
significant conservation of energy. (42 U.S.C. 6295(o)(3)(B)) In
accordance with these and other statutory provisions discussed in this
notice, DOE is adopting amended energy conservation standards for
refrigeration products. The standards in today's final rule, which are
the maximum allowable energy use expressed as a function of the
calculated adjusted volume of a given product, are shown in Table I.1.
These standards apply to all products listed in Table I.1 and
manufactured in, or imported into, the United States starting in 2014.
Table I.1--Refrigeration Product Energy Conservation Standards (Effective Starting 2014)
----------------------------------------------------------------------------------------------------------------
Equations for maximum energy use (kWh/yr)
Product class ------------------------------------------------------------------------
Based on AV (ft \3\) Based on av (L)
----------------------------------------------------------------------------------------------------------------
1. Refrigerator-freezers and 7.99AV + 225.0 0.282av + 225.0
refrigerators other than all-
refrigerators with manual defrost.
1A. All-refrigerators--manual defrost.. 6.79AV + 193.6 0.240av + 193.6
2. Refrigerator-freezers--partial 7.99AV + 225.0 0.282av + 225.0
automatic defrost.
3. Refrigerator-freezers--automatic 8.07AV + 233.7 0.285av + 233.7
defrost with top-mounted freezer
without an automatic icemaker.
3-BI. Built-in refrigerator-freezer-- 9.15AV + 264.9 0.323av + 264.9
automatic defrost with top-mounted
freezer without an automatic icemaker.
3I. Refrigerator-freezers--automatic 8.07AV + 317.7 0.285av + 317.7
defrost with top-mounted freezer with
an automatic icemaker without through-
the-door ice service.
3I-BI. Built-in refrigerator-freezers-- 9.15AV + 348.9 0.323av + 348.9
automatic defrost with top-mounted
freezer with an automatic icemaker
without through-the-door ice service.
3A. All-refrigerators--automatic 7.07AV + 201.6 0.250av + 201.6
defrost.
3A-BI. Built-in All-refrigerators-- 8.02AV + 228.5 0.283av + 228.5
automatic defrost.
4. Refrigerator-freezers--automatic 8.51AV + 297.8 0.301av + 297.8
defrost with side-mounted freezer
without an automatic icemaker.
4-BI. Built-In Refrigerator-freezers-- 10.22AV + 357.4 0.361av + 357.4
automatic defrost with side-mounted
freezer without an automatic icemaker.
4I. Refrigerator-freezers--automatic 8.51AV + 381.8 0.301av + 381.8
defrost with side-mounted freezer with
an automatic icemaker without through-
the-door ice service.
4I-BI. Built-In Refrigerator-freezers-- 10.22AV + 441.4 0.361av + 441.4
automatic defrost with side-mounted
freezer with an automatic icemaker
without through-the-door ice service.
5. Refrigerator-freezers--automatic 8.85AV + 317.0 0.312av + 317.0
defrost with bottom-mounted freezer
without an automatic icemaker.
5-BI. Built-In Refrigerator-freezers-- 9.40AV + 336.9 0.332av + 336.9
automatic defrost with bottom-mounted
freezer without an automatic icemaker.
5I. Refrigerator-freezers--automatic 8.85AV + 401.0 0.312av + 401.0
defrost with bottom-mounted freezer
with an automatic icemaker without
through-the-door ice service.
5I-BI. Built-In Refrigerator-freezers-- 9.40AV + 420.9 0.332av + 420.9
automatic defrost with bottom-mounted
freezer with an automatic icemaker
without through-the-door ice service.
5A. Refrigerator-freezer--automatic 9.25AV + 475.4 0.327av + 475.4
defrost with bottom-mounted freezer
with through-the-door ice service.
5A-BI. Built-in refrigerator-freezer-- 9.83AV + 499.9 0.347av + 499.9
automatic defrost with bottom-mounted
freezer with through-the-door ice
service.
6. Refrigerator-freezers--automatic 8.40AV + 385.4 0.297av + 385.4
defrost with top-mounted freezer with
through-the-door ice service.
7. Refrigerator-freezers--automatic 8.54AV + 432.8 0.302av + 432.8
defrost with side-mounted freezer with
through-the-door ice service.
7-BI. Built-In Refrigerator-freezers-- 10.25AV + 502.6 0.362av + 502.6
automatic defrost with side-mounted
freezer with through-the-door ice
service.
8. Upright freezers with manual defrost 5.57AV + 193.7 0.197av + 193.7
[[Page 57518]]
9. Upright freezers with automatic 8.62AV + 228.3 0.305av + 228.3
defrost without an automatic icemaker.
9I. Upright freezers with automatic 8.62AV + 312.3 0.305av + 312.3
defrost with an automatic icemaker.
9-BI. Built-In Upright freezers with 9.86AV + 260.9 0.348av + 260.9
automatic defrost without an automatic
icemaker.
9I-BI. Built-in upright freezers with 9.86AV + 344.9 0.348av + 344.9
automatic defrost with an automatic
icemaker.
10. Chest freezers and all other 7.29AV + 107.8 0.257av + 107.8
freezers except compact freezers.
10A. Chest freezers with automatic 10.24AV + 148.1 0.362av + 148.1
defrost.
11. Compact refrigerator-freezers and 9.03AV + 252.3 0.319av + 252.3
refrigerators other than all-
refrigerators with manual defrost.
11A. Compact all-refrigerators--manual 7.84AV + 219.1 0.277av + 219.1
defrost.
12. Compact refrigerator-freezers-- 5.91AV + 335.8 0.209av + 335.8
partial automatic defrost.
13. Compact refrigerator-freezers-- 11.80AV + 339.2 0.417av + 339.2
automatic defrost with top-mounted
freezer.
13I. Compact refrigerator-freezers-- 11.80AV + 423.2 0.417av + 423.2
automatic defrost with top-mounted
freezer with an automatic icemaker.
13A. Compact all-refrigerators-- 9.17AV + 259.3 0.324av + 259.3
automatic defrost.
14. Compact refrigerator-freezers-- 6.82AV + 456.9 0.241av + 456.9
automatic defrost with side-mounted
freezer.
14I. Compact refrigerator-freezers-- 6.82AV + 540.9 0.241av + 540.9
automatic defrost with side-mounted
freezer with an automatic icemaker.
15. Compact refrigerator-freezers-- 11.80AV + 339.2 0.417av + 339.2
automatic defrost with bottom-mounted
freezer.
15I. Compact refrigerator-freezers-- 11.80AV + 423.2 0.417av + 423.2
automatic defrost with bottom-mounted
freezer with an automatic icemaker.
16. Compact upright freezers with 8.65AV + 225.7 0.306av + 225.7
manual defrost.
17. Compact upright freezers with 10.17AV + 351.9 0.359av + 351.9
automatic defrost.
18. Compact chest freezers............. 9.25AV + 136.8 0.327av + 136.8
----------------------------------------------------------------------------------------------------------------
AV = adjusted volume in cubic feet; av = adjusted volume in liters.
DOE's analyses indicate that the amended standards would save a
significant amount of energy-an estimated 4.84 quads of cumulative
energy over 30 years (2014 through 2043). This amount is equivalent to
three times the total energy used annually for refrigeration products
in U.S. homes.
The cumulative national net present value (NPV) of total consumer
costs and savings of the amended standards for products shipped in
2014-2043, in 2009$, ranges from $6.4 to $10.4 billion (at a 7-percent
discount rate) to $28.1 to $36.1 billion (at a 3-percent discount
rate).\1\ The NPV is the estimated total value of future operating-cost
savings during the analysis period, minus the estimated increased
product costs, discounted to 2010. The industry net present value
(INPV) is the sum of the discounted cash flows to the industry from the
base year through the end of the analysis period (2010 to 2043). Using
a real discount rate of 7.2 percent, DOE estimates that INPV for
manufacturers of all refrigeration products in the base case is $3.731
billion in 2009$. By adopting the amended standards, DOE expects that
manufacturers may lose 15 to 24 percent of their INPV, or approximately
$0.573 to $0.887 billion. Using a 7-percent discount rate, the NPV of
consumer costs and savings from today's amended standards would amount
to 4 to 16 times the total estimated industry losses. Using a 3-percent
discount rate, the NPV would amount to 26 to 60 times the total
estimated industry losses.
---------------------------------------------------------------------------
\1\ DOE uses discount rates of 7 and 3 percent based on guidance
from the Office of Management and Budget. See section IV.G for
further information.
---------------------------------------------------------------------------
The projected economic impacts of the amended standards on
individual consumers are generally positive. For example, the estimated
average life-cycle cost (LCC) savings are $42 for top-mount
refrigerator-freezers, $22 for bottom-mount refrigerator-freezers, $57
for side-by-side refrigerator-freezers, $195 for upright freezers, $69
for chest freezers, $14 for compact refrigerators, $12 for compact
freezers, and from $2 to $71 for built-in refrigeration products,
depending on the product class.\2\
---------------------------------------------------------------------------
\2\ The LCC is the total consumer expense over the life of a
product, consisting of purchase and installation costs plus
operating costs (expenses for energy use, maintenance and repair).
To compute the operating costs, DOE discounts future operating costs
to the time of purchase and sums them over the lifetime of the
product. The sources and methods used to derive purchase,
installation and operating costs are described in section IV.F of
this notice.
---------------------------------------------------------------------------
In addition, the amended standards are projected to have
significant environmental benefits. The energy saved is in the form of
electricity and DOE expects the energy savings from the amended
standards to eliminate the need for approximately 4.8 gigawatts (GW) of
generating capacity by 2043. The savings would result in cumulative
greenhouse gas emission reductions of 344 million metric tons (Mt) \3\
of carbon dioxide (CO2) in 2014-2043. During this period,
the amended standards would result in emissions reductions \4\ of
277,000 short tons (tons) of nitrogen oxides (NOX) and 1.45
tons of mercury (Hg).
---------------------------------------------------------------------------
\3\ A metric ton is equivalent to 1.1 short tons. Results for
NOX and Hg are given in short tons.
\4\ DOE calculates emissions reductions relative to the most
recent version of the Annual Energy Outlook (AEO) Reference case
forecast. This forecast accounts for regulatory emissions reductions
through 2008, including the Clean Air Interstate Rule (CAIR, 70 FR
25162 (May 12, 2005)), but not the Clean Air Mercury Rule (CAMR, 70
FR 28606 (May 18, 2005)). Subsequent regulations, including the
proposed CAIR replacement rule, the Clean Air Transport Rule (75 FR
45210 (Aug. 2, 2010)), do not appear in the forecast. DOE notes that
a new CAIR rule has recently been finalized. See https://www.epa.gov/crossstaterule/.
---------------------------------------------------------------------------
The value of the CO2 reductions is calculated using a
range of values per metric ton of CO2 (otherwise known as
the Social Cost of Carbon, or SCC) developed by a recent interagency
process. The derivation of the SCC values is discussed in section IV.M.
DOE estimates the present monetary value of the CO2
emissions reduction is between $2.8 and $27.5 billion, expressed in
2009$ and discounted to 2010. DOE also estimates that the present
monetary value of the NOX emissions reduction, expressed in
2009$ and discounted to 2010, is between $35 and $360 million at a 7-
percent discount
[[Page 57519]]
rate, and between $87 and $890 million at a 3-percent discount rate.\5\
---------------------------------------------------------------------------
\5\ The range of values at each discount rate reflects use of
low and high estimates of the benefits of avoiding one ton of
NOX emissions. With respect to mercury, DOE is aware of
multiple agency efforts to determine the appropriate range of values
used in evaluating the potential economic benefits of reduced Hg
emissions. DOE has decided to await further guidance regarding
consistent valuation and reporting of Hg emissions before it once
again monetizes Hg in its rulemakings.
---------------------------------------------------------------------------
Table I.2 summarizes the national economic costs and benefits
expected to result from today's standards for refrigeration products.
Table I.2--Summary of National Economic Benefits and Costs of
Refrigeration Product Energy Conservation Standards
------------------------------------------------------------------------
Present value billion Discount rate
Category 2009$ (percent)
------------------------------------------------------------------------
Benefits
------------------------------------------------------------------------
Operating Cost Savings........... 21.7................. 7
55.4................. 3
CO2 Reduction Monetized Value (at 2.8.................. 5
$4.9/t)*.
CO2 Reduction Monetized Value (at 9.0.................. 3
$22.1/t)*.
CO2 Reduction Monetized Value (at 13.5................. 2.5
$36.3/t)*.
CO2 Reduction Monetized Value (at 27.5................. 3
$67.1/t)*.
NOX Reduction Monetized Value (at 0.035................ 7
$447/ton)*. 0.087................ 3
NOX Reduction Monetized Value (at 0.36................. 7
$4,591/ton)*. 0.89................. 3
Total Benefits[dagger]........... 30.9................. 7
64.9................. 3
------------------------------------------------------------------------
Costs
------------------------------------------------------------------------
Incremental Installed Costs...... 11.3 to 15.3......... 7
19.3 to 27.3......... 3
------------------------------------------------------------------------
Net Benefits
------------------------------------------------------------------------
Including CO2 and NOX[dagger].... 15.6 to 19.5......... 7
37.5 to 45.5......... 3
------------------------------------------------------------------------
* The CO2 values represent global monetized values of the SCC in 2010
under several scenarios. The values of $4.9, $22.1, and $36.3 per
metric ton (t) are the averages of SCC distributions calculated using
5%, 3%, and 2.5% discount rates, respectively. The value of $67.1/t
represents the 95th percentile of the SCC distribution calculated
using a 3% discount rate.
** The range of results for incremental product costs reflects the range
of product price forecasts discussed in section IV.G.3.
[dagger] Total Benefits for both the 3% and 7% cases are derived using
the SCC value calculated at a 3% discount rate, and the average of the
low and high NOX values used in DOE's analysis.
The benefits and costs of today's standards, for products sold in
2014-2043, can also be expressed in terms of annualized values. The
annualized monetary values are the sum of (1) the annualized national
economic value, expressed in 2009$, of the benefits from operating
products that meet the amended standards (consisting primarily of
operating cost savings from using less energy, minus increases in
equipment purchase and installation costs, which is another way of
representing consumer NPV), and (2) the annualized monetary value of
the benefits of emission reductions, including CO2 emission
reductions.\6\
---------------------------------------------------------------------------
\6\ DOE used a two-step calculation process to convert the time-
series of costs and benefits into annualized values. First, DOE
calculated a present value in 2010, the year used for discounting
the NPV of total consumer costs and savings, for the time-series of
costs and benefits using discount rates of three and seven percent
for all costs and benefits except for the value of CO2
reductions. For the latter, DOE used a range of discount rates, as
shown in Table I.3. From the present value, DOE then calculated the
fixed annual payment over a 30-year period (2014 through 2043) that
yields the same present value. This payment includes benefits to
consumers which accrue after 2043 from the refrigerators purchased
from 2014 to 2043. Costs incurred by manufacturers, some of which
may be incurred prior to 2014 in preparation for the rule, are not
directly included, but are indirectly included as part of
incremental equipment costs. The extent of these costs and benefits
depends on the projected price trends of refrigerators since
consumer demand of refrigerators is a function of refrigerator
prices. The fixed annual payment is the annualized value. Although
DOE calculated annualized values, this does not imply that the time-
series of cost and benefits from which the annualized values were
determined is a steady stream of payments.
---------------------------------------------------------------------------
Although adding the value of consumer savings to the values of
emission reductions provides a valuable perspective, two issues should
be considered. First, the national operating savings are domestic U.S.
consumer monetary savings that occur as a result of market transactions
while the value of CO2 reductions is based on a global
value. Second, the assessments of operating cost savings and SCC are
performed with different methods that use different time frames for
analysis. The national operating cost savings is measured for the
lifetime of refrigeration products shipped in 2014-2043. The SCC
values, on the other hand, reflect the present value of future climate-
related impacts resulting from the emission of one ton of carbon
dioxide in each year. These impacts continue well beyond 2100.
Estimates of annualized benefits and costs of today's standards are
shown in Table I.3. The results under the primary estimate, expressed
in 2009$, are as follows. Using a 7-percent discount rate and the SCC
series having a value of $22.1/ton in 2010, the cost of the standards
in today's rule is $1,167 to $1,569 million per year in increased
equipment costs, while the annualized benefits are $2,275 million per
year in reduced equipment operating costs, $515 million in
CO2 reductions, and $21 million in reduced NOX
emissions. In this case, the net benefit amounts to $1,241 to $1,643
million per year. Using a 3-percent discount rate and the SCC series
having a value of $22.1/ton in 2010, the cost of the standards in
[[Page 57520]]
today's rule is $1,081 to $1,526 million per year in increased
equipment costs, while the benefits are $3,160 million per year in
reduced operating costs, $515 million in CO2 reductions, and
$28 million in reduced NOX emissions. In this case, the net
benefit amounts to $2,176 to $2,622 million per year.
Table I.3--Annualized Benefits and Costs of Amended Standards for Refrigeration Products Shipped in 2014-2043 *
--------------------------------------------------------------------------------------------------------------------------------------------------------
Monetized (million 2009$/year)
-----------------------------------------------------------------------------------
Discount rate Low net benefits estimate High net benefits
Primary estimate * * estimate *
--------------------------------------------------------------------------------------------------------------------------------------------------------
Benefits:
Operating Cost Savings........ 7%.............................. 2275...................... 1996...................... 2560.
3%.............................. 3160...................... 2720...................... 3596.
CO2 Reduction at $4.9/t **.... 5%.............................. 162....................... 162....................... 162.
CO2 Reduction at $22.1/t **... 3%.............................. 515....................... 515....................... 515.
CO2 Reduction at $36.3/t **... 2.5%............................ 772....................... 772....................... 772.
CO2 Reduction at $67.1/t **... 3%.............................. 1567...................... 1567...................... 1567.
NOX Reduction at $2,519/ton ** 7%.............................. 21........................ 21........................ 21.
3%.............................. 28........................ 28........................ 28.
Total (Operating Cost Savings, 7% plus CO2 range............... 2457 to 3863.............. 2178 to 3584.............. 2742 to 4148.
CO2 Reduction and NOX 7%.............................. 2810...................... 2531...................... 3095.
Reduction) [dagger].
3%.............................. 3703...................... 3263...................... 4139.
3% plus CO2 range............... 3350 to 4755.............. 2910 to 4315.............. 3786 to 5192.
Costs:
Incremental Product Costs..... 7%.............................. 1167 to 1569.............. 1480...................... 1232.
3%.............................. 1081 to 1526.............. 1430...................... 1147.
Net Benefits:
Total [dagger]................ 7% plus CO2 range............... 888 to 2696............... 698 to 2103............... 1511 to 2916.
7%.............................. 1241 to 1643.............. 1051...................... 1863.
3%.............................. 2176 to 2622.............. 1832...................... 2993.
3% plus CO2 range............... 1823 to 3674.............. 1479 to 2885.............. 2640 to 4045.
--------------------------------------------------------------------------------------------------------------------------------------------------------
*This table presents the annualized costs and benefits associated with refrigerators shipped between 2014 and 2043. These results include benefits to
consumers which accrue after 2043 from the refrigerators purchased from 2014 to 2043. Costs incurred by manufacturers, some of which may be incurred
prior to 2014 in preparation for the rule, are not directly included, but are indirectly included as part of incremental equipment costs. The extent
of these costs and benefits depends on the projected price trends of refrigerators since consumer demand of refrigerators is a function of
refrigerator prices. The extent of the costs and benefits will depend on the projected price trends of refrigerators, as the consumer demand for
refrigerators is a function of refrigerator prices. The Primary, Low Benefits, and High Benefits Estimates utilize forecasts of energy prices and
housing starts from the AEO2010 Reference case, Low Estimate, and High Estimate, respectively. In addition, incremental product costs reflect a medium
decline rate for projected product price trends in the Primary Estimate, a low decline rate for projected product price trends using a Low Benefits
Estimate, and a high decline rate for projected product price trends using a High Benefits Estimate. The different techniques used to derive projected
price trends for each estimate are explained in section IV.G.3. In the Primary estimate, the range of results for incremental product costs reflects
the range of projected price trends.
** The CO2 values represent global monetized values (in 2009$) of the SCC in 2010 under several scenarios. The values of $4.9, $22.1, and $36.3 per
metric ton are the averages of SCC distributions calculated using 5%, 3%, and 2.5% discount rates, respectively. The value of $67.1/t represents the
95th percentile of the SCC distribution calculated using a 3% discount rate. The value for NOX (in 2009$) is the average of the low and high values
used in DOE's analysis.
[dagger] Total Benefits for both the 3% and 7% cases are derived using the SCC value calculated at a 3% discount rate, which is $22.1/t in 2010 (in
2009$). In the rows labeled as ``7% plus CO2 range'' and ``3% plus CO2 range,'' the operating cost and NOX benefits are calculated using the labeled
discount rate, and those values are added to the full range of CO2 values.
DOE has concluded that the standards in today's rule represent the
maximum improvement in energy efficiency that is both technologically
feasible and economically justified, and would result in the
significant conservation of energy. DOE further notes that products
achieving these standard levels are already commercially available for
at least some, if not most, product classes covered by today's ruling.
Based on the analyses described above, DOE found the benefits of
today's standards to the Nation (energy savings, positive NPV of
consumer benefits, consumer LCC savings, and emission reductions)
outweigh the burdens (loss of INPV for manufacturers and LCC increases
for some consumers).
II. Introduction
The following section briefly discusses the statutory authority
underlying today's final rule as well as some of the relevant
historical background related to the establishment of standards for
refrigeration products.
A. Authority
Title III of EPCA sets forth a variety of provisions designed to
improve energy efficiency. Part A of title III (42 U.S.C. 6291-6309)
provides for the Energy Conservation Program for Consumer Products
Other than Automobiles.\7\ EPCA covers consumer products and certain
commercial equipment (referred to collectively hereafter as ``covered
products''), including the types of refrigeration products that are the
subject of this rulemaking. (42 U.S.C. 6292(a)(1)) EPCA prescribed
energy conservation standards for these products (42 U.S.C. 6295(b)(1)-
(2)), and directed DOE to conduct three cycles of rulemakings to
determine whether to amend these standards. (42 U.S.C.
6295(b)(3)(A)(i), (b)(3)(B)-(C), and (b)(4)) As explained in further
detail in section 0, this rulemaking satisfies the third round of
amendments under 42 U.S.C. 6295(b). (DOE notes that under 42 U.S.C.
6295(m), the agency must periodically review its already established
energy conservation standards for a covered product. Under this
requirement, the
[[Page 57521]]
next review that DOE would need to conduct would occur six years from
the issuance of a final rule establishing or amending a standard for a
covered product.)
---------------------------------------------------------------------------
\7\ This part was titled Part B in EPCA, but was subsequently
codified as Part A in the U.S. Code for editorial reasons.
---------------------------------------------------------------------------
Under the Act, DOE's energy conservation program for covered
products consists essentially of four parts: (1) Testing, (2) labeling,
(3) the establishment of Federal energy conservation standards, and (4)
certification and enforcement procedures. The Federal Trade Commission
(FTC) is generally responsible for labeling issues for consumer
products, and DOE implements the remainder of the program. Section 323
of the Act (codified at 42 U.S.C. 6293) authorizes DOE, subject to
certain criteria and conditions, to develop test procedures to measure
the energy efficiency, energy use, or estimated annual operating cost
of each covered product. Manufacturers of covered products must use the
prescribed DOE test procedure as the basis for certifying to DOE that
their products comply with the applicable energy conservation standards
adopted under EPCA and when making representations to the public
regarding the energy use or efficiency of those products. (42 U.S.C.
6293(c) and 6295(s)) Similarly, DOE must use these test procedures to
determine whether the products comply with standards adopted under
EPCA. Id. The test procedures for refrigeration products currently
appear at title 10, Code of Federal Regulations (CFR), part 430,
subpart B, appendices A1 and B1, respectively. (These procedures have
recently been amended and recodified as part of new Appendices A and B,
which will, pending further comment from interested parties, be
required to be used when certifying compliance with the standards
detailed in today's final rule. See 75 FR 78810 (December 16, 2010)).
EPCA prescribes specific criteria for DOE to consider when amending
standards for covered products. As indicated above, any amended
standard for a covered product must be designed to achieve the maximum
improvement in energy efficiency that is technologically feasible and
economically justified. (42 U.S.C. 6295(o)(2)(A)) EPCA precludes DOE
from adopting any standard that would not result in the significant
conservation of energy. (42 U.S.C. 6295(o)(3)) Moreover, DOE may not
prescribe a standard for certain products, including refrigeration
products, (1) if no test procedure has been established for that
product, or (2) if DOE determines by rule that the amended standard is
not technologically feasible or economically justified. (42 U.S.C.
6295(o)(3)(A)-(B)) The Act also provides that, in deciding whether an
amended standard is economically justified, DOE must determine whether
the benefits of the standard exceed its burdens. (42 U.S.C.
6295(o)(2)(B)(i)) DOE must do so after receiving comments on the
proposed standard, and by considering, to the greatest extent
practicable, the following seven factors:
1. The economic impact of the standard on manufacturers and
consumers of the products subject to the standard;
2. The savings in operating costs throughout the estimated average
life of the covered products in the type (or class) compared to any
increase in the price, initial charges, or maintenance expenses for the
covered products that are likely to result from the imposition of the
standard;
3. The total projected amount of energy savings likely to result
directly from the imposition of the standard;
4. Any lessening of the utility or the performance of the covered
products likely to result from the imposition of the standard;
5. The impact of any lessening of competition, as determined in
writing by the Attorney General, that is likely to result from the
imposition of the standard;
6. The need for national energy conservation; and
7. Other factors the Secretary of Energy (Secretary) considers
relevant. (42 U.S.C. 6295(o)(2)(B)(i)(I)-(VII))
EPCA also contains what is known as an ``anti-backsliding''
provision, which prevents DOE from prescribing any amended standard
that either increases the maximum allowable energy use or decreases the
minimum required energy efficiency of a covered product. (42 U.S.C.
6295(o)(1)) Also, DOE may not prescribe a new standard if interested
persons have established by a preponderance of the evidence that the
standard is likely to result in the unavailability in the United States
of any covered product type (or class) with performance
characteristics, features, sizes, capacities, and volumes that are
substantially the same as those generally available in the United
States. (42 U.S.C. 6295(o)(4))
Further, EPCA establishes a rebuttable presumption that a standard
is economically justified if the Secretary finds that the additional
cost to the consumer of purchasing a product complying with an energy
conservation standard level will be less than three times the value of
the energy savings during the first year that the consumer will receive
as a result of the standard, as calculated under the applicable test
procedure. See 42 U.S.C. 6295(o)(2)(B)(iii).\8\
---------------------------------------------------------------------------
\8\ In this context, the presumption provides a legal finding
that the criteria under 42 U.S.C. 6295(o)(2) have been met if the
specified level of savings within the first year occur. To ensure
that it has fully examined the potential costs and benefits of a
given level, DOE routinely conducts a full analysis of the potential
standards it considers.
---------------------------------------------------------------------------
Additionally, 42 U.S.C. 6295(q)(1) specifies the requirements for
setting classes of a covered product. In such cases, DOE may specify a
different standard level than that which applies generally to such type
or class of products ``for any group of covered products which have the
same function or intended use'' if one of two conditions is met: (A)
The specific group of products for which a class category would apply
consume a different kind of energy from that consumed by other covered
products within such type (or class); or (B) that specific group of
products has a capacity or other performance-related feature which
other products within such type (or class) do not have and such feature
justifies a higher or lower standard'' than applies or will apply to
the other products within that type or class. Id. In determining
whether a performance-related feature justifies a different standard
for a group of products, DOE must ``consider such factors as the
utility to the consumer of such a feature'' and other factors DOE deems
appropriate. Id. Any rule prescribing such a standard must include an
explanation of the basis on which such higher or lower level was
established. (42 U.S.C. 6295(q)(2))
Federal energy conservation requirements generally supersede State
laws or regulations concerning energy conservation testing, labeling,
and standards. (42 U.S.C. 6297(a)-(c)) DOE can, however, grant waivers
of Federal preemption for particular State laws or regulations in
accordance with the procedures and other provisions of section 327(d)
of the Act. (42 U.S.C. 6297(d))
Section 310(3) of the Energy Independence and Security Act of 2007
(EISA 2007; Pub. L. 110-140 (codified at 42 U.S.C. 6295(gg))) amended
EPCA to require that energy conservation standards address standby mode
and off mode energy use. Specifically, when DOE adopts a standard for a
covered product after July 1, 2010, it must, if justified by the
criteria for adoption of standards in section 325(o) of EPCA (42 U.S.C.
6295(o)), incorporate standby mode and off mode energy use into the
standard, if feasible, or adopt a separate
[[Page 57522]]
standard for such energy use for that product. (42 U.S.C.
6295(gg)(3)(A)-(B)) DOE's current (and recently amended) test
procedures and current standards for refrigeration products address
standby and off mode energy use, as do the amended standards adopted in
this final rule. Standby and off mode energy use is measured by the
test procedures and integrated into the energy use metric, thus
separate metrics for these quantities are not needed.
DOE has also reviewed this regulation pursuant to Executive Order
13563 (76 FR 3281, Jan. 21, 2011). EO 13563 is supplemental to, and
explicitly reaffirms the principles, structures, and definitions
governing regulatory review established in, Executive Order 12866. To
the extent permitted by law, agencies are required by Executive Order
13563 to: (1) Propose or adopt a regulation only upon a reasoned
determination that its benefits justify its costs (recognizing that
some benefits and costs are difficult to quantify); (2) tailor
regulations to impose the least burden on society, consistent with
obtaining regulatory objectives, taking into account, among other
things, and to the extent practicable, the costs of cumulative
regulations; (3) select, in choosing among alternative regulatory
approaches, those approaches that maximize net benefits (including
potential economic, environmental, public health and safety, and other
advantages; distributive impacts; and equity); (4) to the extent
feasible, specify performance objectives, rather than specifying the
behavior or manner of compliance that regulated entities must adopt;
and (5) identify and assess available alternatives to direct
regulation, including providing economic incentives to encourage the
desired behavior, such as user fees or marketable permits, or providing
information upon which choices can be made by the public.
DOE emphasizes as well that Executive Order 13563 requires agencies
``to use the best available techniques to quantify anticipated present
and future benefits and costs as accurately as possible.'' In its
guidance, the Office of Information and Regulatory Affairs has
emphasized that such techniques may include ``identifying changing
future compliance costs that might result from technological innovation
or anticipated behavioral changes.'' For the reasons stated in the
preamble, DOE believes that today's final rule is consistent with these
principles, including that, to the extent permitted by law, agencies
adopt a regulation only upon a reasoned determination that its benefits
justify its costs and select, in choosing among alternative regulatory
approaches, those approaches that maximize net benefits.
Given the range of inputs and parameters analyzed in this
rulemaking, there may be multiple standards that would maximize
annualized net benefits.\9\ For some product classes, depending on
different assumptions, the standard that maximized annualized net
benefits could fall within a range of TSLs. Five different TSLs were
considered for each product class grouping with high and low values for
the maximum annualized net benefits estimated for each TSL. For
standard-size refrigerator-freezers, the TSL with maximum annualized
net benefits with the highest value was TSL 3, although certain values
for maximum annualized net benefits fell within the ranges estimated
for TSL 1 to TSL 3. For standard-size freezers, the maximum annualized
net benefits fell within the calculated ranges for TSL 3 to TSL 4.
However, DOE noted that even using the low end of this range,
efficiency levels are significantly higher than the most efficient
products already available on the market (see Section VI.C.2).
Therefore, DOE selected TSL 2, which DOE also notes corresponds to the
recommended level in the Joint Comments. For compact refrigeration
products, the maximum annualized net benefits fell within the
calculated ranges for TSL 1 to TSL 3, and DOE selected TSL 2. With
respect to compact refrigeration products, DOE estimates an
approximately 10 percent increase in total installation costs as a
result of the standard. Because DOE was unable to estimate the income
subgroup LCC effects due to lack of data, the agency believes choosing
a TSL on the lower end of the range of estimated cost impacts (i.e.,
TSL 2) would provide a more conservative approach to minimize any
potentially negative consumer welfare impacts on lower income
consumers. For built-in refrigeration products, the TSL with maximum
annualized net benefits was TSL 2, and DOE selected TSL 2. Therefore,
consistent with EO 13563, the energy efficiency standards adopted
herein by DOE achieves maximum net benefits.
---------------------------------------------------------------------------
\9\ The maximum annualized net benefits included monetized
emissions savings.
---------------------------------------------------------------------------
B. Background
The following discussion provides some background information
describing the events leading up to today's final rule.
1. Current Standards
In a final rule published on April 28, 1997 (1997 Final Rule), DOE
prescribed energy conservation standards for refrigeration products
manufactured on or after July 1, 2001. 62 FR 23102. This 1997 rule set
the energy conservation standards that are currently in place and
completed the second round of rulemaking to amend the standards for
refrigeration products required under 42 U.S.C. 6295(b)(3)(B)-(C). The
current standards consist of separate equations for each product class.
Each equation provides a means to calculate the maximum levels of
energy use permitted under the regulations. These levels vary based on
the storage volume of the refrigeration product and on the particular
characteristics and features included in a given product (i.e., based
on product class). 10 CFR 430.32(a). The current standards are set
forth in Table II.1. DOE notes that the standard levels denoted in the
additional product classes listed as 5A and 10A were established by the
Office of Hearings and Appeals (OHA) through that Office's exception
relief process, and are applicable to basic models of those types if
their manufacturer has applied for and been granted exception relief
for them by OHA.
[[Page 57523]]
Table II.1--Federal Energy Efficiency Standards for Refrigerators,
Refrigerator-Freezers, and Freezers
------------------------------------------------------------------------
Energy standard equations for maximum
Product class energy use (kWh/yr)
------------------------------------------------------------------------
Made Effective by the 1997 Final Rule
------------------------------------------------------------------------
1. Refrigerators and 8.82AV+248.4
refrigerator-freezers with 0.31av+248.4
manual defrost.
2. Refrigerator-freezers-- 8.82AV+248.4
partial automatic defrost. 0.31av+248.4
3. Refrigerator-freezers-- 9.80AV+276.0
automatic defrost with top- 0.35av+276.0
mounted freezer without
through-the-door ice service
and all-refrigerator--
automatic defrost.
4. Refrigerator-freezers-- 4.91AV+507.5
automatic defrost with side- 0.17av+507.5
mounted freezer without
through-the-door ice service.
5. Refrigerator-freezers-- 4.60AV+459.0
automatic defrost with bottom- 0.16av+459.0
mounted freezer without
through-the-door ice service.
6. Refrigerator-freezers-- 10.20AV+356.0
automatic defrost with top- 0.36av+356.0
mounted freezer with through-
the-door ice service.
7. Refrigerator-freezers-- 10.10AV+406.0
automatic defrost with side- 0.36av+406.0
mounted freezer with through-
the-door ice service.
8. Upright freezers with manual 7.55AV+258.3
defrost. 0.27av+258.3
9. Upright freezers with 12.43AV+326.1
automatic defrost. 0.44av+326.1
10. Chest freezers and all 9.88AV+143.7
other freezers except compact 0.35av+143.7
freezers.
11. Compact refrigerators and 10.70AV+299.0
refrigerator-freezers with 0.38av+299.0
manual defrost.
12. Compact refrigerator- 7.00AV+398.0
freezer--partial automatic 0.25av+398.0
defrost.
13. Compact refrigerator- 12.70AV+355.0
freezers--automatic defrost 0.45av+355.0
with top-mounted freezer and
compact all-refrigerator--
automatic defrost.
14. Compact refrigerator- 7.60AV+501.0
freezers--automatic defrost 0.27av+501.0
with side-mounted freezer.
15. Compact refrigerator- 13.10AV+367.0
freezers--automatic defrost 0.46av+367.0
with bottom-mounted freezer.
16. Compact upright freezers 9.78AV+250.8
with manual defrost. 0.35av+250.8
17. Compact upright freezers 11.40AV+391.0
with automatic defrost. 0.40av+391.0
18. Compact chest freezers..... 10.45AV+152.0
0.37av+152.0
------------------------------------------------------------------------
Product Class Made Effective Through OHA Exception
Relief
------------------------------------------------------------------------
5A. Refrigerator-freezer-- 5.0AV+539.0
automatic defrost with bottom- 0.18av+539.0
mounted freezer with through-
the-door ice service.
10A. Chest freezers with 14.76AV+211.5
automatic defrost. 0.52av+211.5
------------------------------------------------------------------------
AV: Adjusted Volume in ft\3\; av: Adjusted Volume in liters (L).
2. History of Standards Rulemaking for Refrigerators, Refrigerator-
Freezers, and Freezers
The amendments made to EPCA by the National Appliance Energy
Conservation Act of 1987 (NAECA; Pub. L. 100-12) included mandatory
energy conservation standards for refrigeration products and
requirements that DOE conduct two cycles of rulemakings to determine
whether to amend these standards. (42 U.S.C. 6295(b)(1), (2),
(3)(A)(i), and (3)(B)-(C)) DOE completed the first of these rulemaking
cycles in 1989 and 1990 by adopting amended performance standards for
all refrigeration products manufactured on or after January 1, 1993. 54
FR 47916 (November 17, 1989); 55 FR 42845 (October 24, 1990). As
indicated above, DOE completed a second rulemaking cycle to amend the
standards for refrigeration products by issuing a final rule in 1997,
which adopted the current standards for these products. 62 FR 23102
(April 28, 1997).
In 2005, DOE granted a petition, submitted by a coalition of state
governments, utility companies, consumer and low-income advocacy
groups, and environmental and energy efficiency organizations,
requesting a rulemaking to amend the standards for residential
refrigerator-freezers.\10\ DOE then conducted limited analyses to
examine the technological and economic feasibility of amended standards
at the ENERGY STAR levels that were in effect for 2005 for the two most
popular product classes of refrigerator-freezers. These analyses not
only identified potential energy savings, benefits and burdens from
such standards, but also assessed other issues related to them. Most
recently, DOE has undertaken this rulemaking to satisfy
[[Page 57524]]
the statutory requirement that DOE publish a final rule to determine
whether to amend the standards for refrigeration products manufactured
in 2014. (42 U.S.C. 6295(b)(4)) The limited 2005 analyses served as
background for the more extensive analysis conducted for this
rulemaking.
---------------------------------------------------------------------------
\10\ The petition, submitted June 1, 2004, can be viewed at
https://www.standardsasap.org/documents/rfdoe.pdf (last accessed
August 18, 2010) and is in the docket as item No. 117.
---------------------------------------------------------------------------
DOE initiated this rulemaking by making available on its Web site a
framework document for refrigeration products, a PDF copy of which is
available at https://www1.eere.energy.gov/buildings/appliance_standards/residential/pdfs/refrigerator_freezer_framework.pdf). DOE
also published a notice announcing the availability of the framework
document and a public meeting to discuss the document. It also
requested public comment on the document. 73 FR 54089 (September 18,
2008). The framework document described the procedural and analytical
approaches that DOE anticipated using to evaluate energy conservation
standards for refrigeration products and identified various issues to
resolve during the rulemaking.
On September 29, 2008, DOE held the framework document public
meeting and discussed the issues detailed in the framework document.
DOE also described the analyses that it planned to conduct during the
rulemaking. Through the public meeting, DOE sought feedback from
interested parties on these subjects and provided information regarding
the rulemaking process that DOE would follow. Interested parties
discussed the following major issues at the public meeting: Test
procedure revisions; product classes; technology options; approaches to
the engineering, life-cycle cost, and payback period analyses;
efficiency levels analyzed in the engineering analysis; and the
approach for estimating typical energy consumption. At the meeting, and
during the related comment period, DOE received many comments that
helped it identify and resolve issues involved in this rulemaking.
DOE then gathered additional information and performed preliminary
analyses for the purpose of developing potential amended energy
conservation standards for refrigeration products. This process
culminated in DOE's public announcement of the preliminary analysis
public meeting. 74 FR 58915 (November 16, 2009) (the November 2009
notice) At that meeting, which was held on December 10, 2009, DOE
discussed the following matters: The product classes DOE analyzed; the
analytical framework, models, and tools that DOE was using to evaluate
standards; the results of the preliminary analyses performed by DOE;
and potential standard levels that DOE could consider. DOE also invited
written and verbal comments on these subjects and announced the
availability on its Web site of a preliminary technical support
document (preliminary TSD) it had prepared to inform interested parties
and enable them to provide comments. Id. (The preliminary TSD is
available at https://www1.eere.energy.gov/buildings/appliance_standards/residential/pdfs/ref_frz_prenopr_prelim_tsd.pdf) DOE also
sought views concerning other relevant issues that participants
believed would affect energy conservation standards for refrigeration
products, or that merited addressing in the Notice of Proposed
Rulemaking (NOPR). Id. at 58917-18.
The preliminary TSD provided an overview of the activities DOE
undertook in developing potential standards for refrigeration products,
and discussed the comments DOE received in response to the framework
document. It also described the analytical framework that DOE used,
including a description of the methodology, the analytical tools, and
the relationships among the various analyses that are part of the
rulemaking. The preliminary TSD presented and described in detail each
analysis DOE had performed up to that point, including descriptions of
inputs, sources, methodologies, and results. These analyses included a
market and technology assessment, a screening analysis, an engineering
analysis, an energy use analysis, a markups analysis, a life-cycle cost
analysis, a payback period (PBP) analysis, a shipments analysis, a
national impact analysis, and a preliminary manufacturer impact
analysis. See the NOPR for an overview of these assessments and
analyses. 75 FR 59470, 59477 (September 27, 2010).
At the preliminary analysis meeting, DOE presented the
methodologies and results of the analyses set forth in the preliminary
TSD. Major topics discussed at the meeting included test procedure
revisions, product classes (including wine coolers, all-
refrigerators,\11\ and built-in refrigeration products), the use of
alternative foam blowing agents and refrigerants, engineering analysis
tools, the use of vacuum insulated panels (VIPs), mark-ups, field
energy consumption, life-cycle cost inputs, efficiency distribution
forecasts, and trial standard level selection criteria. DOE also
discussed plans for conducting the NOPR analyses. Comment received in
response to the November 2009 notice, helped shape DOE's resolution of
the issues raised in the preliminary analysis meeting.
---------------------------------------------------------------------------
\11\ An ``all-refrigerator'' is defined as ``an electric
refrigerator which does not include a compartment for the freezing
and long time storage of food at temperatures below 32 [deg]F (0.0
[deg]C). It may include a compartment of 0.50 cubic feet capacity
(14.2 liters) or less for the freezing and storage of ice.'' (10 CFR
part 430, subpart B, appendix A1, section 1.4).
---------------------------------------------------------------------------
In response to the preliminary analysis, DOE also received a
comment submitted jointly by groups representing manufacturers
(Association of Home Appliance Manufacturers, Whirlpool, General
Electric Company (GE), Electrolux, LG Electronics, BSH, Alliance
Laundry, Viking Range, Sub Zero-Wolf, Friedrich A/C, U-Line, Samsung,
Sharp Electronics, Miele, Heat Controller, AGA Marvel, Brown Stove,
Haier, Fagor America, Airwell Group, Arcelik, Fisher & Paykel, Scotsman
Ice, Indesit, Kuppersbusch, Kelon, DeLonghi); energy and environmental
advocates (American Council for an Energy Efficient Economy, Appliance
Standards Awareness Project, Natural Resources Defense Council,
Alliance to Save Energy, Alliance for Wate