Petition for Waiver and Notice of Granting the Application for Interim Waiver of BSH Home Appliances Corporation From the DOE Residential Clothes Dryer Test Procedure, 36760-36763 [2013-14590]
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[FR Doc. 2013–14651 Filed 6–18–13; 8:45 am]
BILLING CODE 4000–01–P
DEPARTMENT OF ENERGY
Office of Energy Efficiency and
Renewable Energy
[Case No. CD–007]
Petition for Waiver and Notice of
Granting the Application for Interim
Waiver of BSH Home Appliances
Corporation From the DOE Residential
Clothes Dryer Test Procedure
Office of Energy Efficiency and
Renewable Energy, Department of
Energy.
ACTION: Notice of Petition for Waiver,
Granting of Application for Interim
Waiver, and Request for Public
Comments.
mstockstill on DSK4VPTVN1PROD with NOTICES
AGENCY:
SUMMARY: This notice announces receipt
of and publishes the BSH Home
Appliances Corporation (BSH) petition
for waiver from specified portions of the
U.S. Department of Energy (DOE) test
procedure for determining the energy
consumption of residential clothes
dryers. The waiver request pertains to
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BSH’s specified models of condensing
residential clothes dryers. The existing
test procedure does not apply to
condensing clothes dryers. In addition,
today’s notice grants BSH an interim
waiver from the DOE test procedure
applicable to residential clothes dryers.
DOE solicits comments, data, and
information concerning BSH’s petition.
DATES: DOE will accept comments, data,
and information with respect to BSH’s
Petition until July 19, 2013.
ADDRESSES: You may submit comments,
identified by case number CD–007, by
any of the following methods:
• Federal eRulemaking Portal: https://
www.regulations.gov. Follow the
instructions for submitting comments.
• Email:
AS_Waiver_Requests@ee.doe.gov.
Include the case number [Case No. CD–
007] in the subject line of the message.
• Mail: Ms. Brenda Edwards, U.S.
Department of Energy, Building
Technologies Program, Mailstop EE–2J,
Petition for Waiver Case No. CD–007,
1000 Independence Avenue SW.,
Washington, DC 20585–0121.
Telephone: (202) 586–2945. Please
submit one signed original paper copy.
• Hand Delivery/Courier: Ms. Brenda
Edwards, U.S. Department of Energy,
Building Technologies Program, 950
L’Enfant Plaza SW., Suite 600,
Washington, DC 20024. Please submit
one signed original paper copy.
Docket: For access to the docket to
review the background documents
relevant to this matter and comments
received, you may visit the U.S.
Department of Energy, 950 L’Enfant
Plaza SW (Resource Room of the
Building Technologies Program),
Washington, DC, 20024; (202) 586–2945,
between 9:00 a.m. and 4:00 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. Bryan Berringer, U.S. Department of
Energy, Building Technologies
Program, Mail Stop EE–2J, Forrestal
Building, 1000 Independence Avenue
SW., Washington, DC 20585–0121.
Telephone: (202) 586–0371. Email:
Bryan.Berringer@ee.doe.gov.
Mr. James Silvestro, U.S. Department of
Energy, Office of the General Counsel,
Mail Stop GC–71, Forrestal Building,
1000 Independence Avenue SW.,
Washington, DC 20585–0103.
Telephone: (202) 286–4224. Email:
James.Silvestro@hq.doe.gov.
SUPPLEMENTARY INFORMATION:
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I. Background and Authority
Title III, Part B of the Energy Policy
and Conservation Act of 1975 (EPCA),
Public Law 94–163 (42 U.S.C. 6291–
6309, as codified), established the
Energy Conservation Program for
Consumer Products Other Than
Automobiles, a program covering most
major household appliances, which
includes the residential clothes dryers
that are the focus of this notice.1 Part B
includes definitions, test procedures,
labeling provisions, energy conservation
standards, and the authority to require
information and reports from
manufacturers. Further, Part B
authorizes the Secretary of Energy to
prescribe test procedures that are
reasonably designed to produce results
which measure energy efficiency,
energy use, or estimated operating costs,
and that are not unduly burdensome to
conduct. (42 U.S.C. 6293(b)(3)). The test
procedure for clothes dryers is
contained in 10 CFR part 430, subpart
B, appendix D.
DOE’s regulations set forth in 10 CFR
430.27 contain provisions that enable a
person to seek a waiver from the test
procedure requirements for covered
consumer products. A waiver will be
granted by the Assistant Secretary for
Energy Efficiency and Renewable
Energy (the Assistant Secretary) if it is
determined that the basic model for
which the petition for waiver was
submitted contains one or more design
characteristics that prevents testing of
the basic model according to the
prescribed test procedures, or if the
prescribed test procedures may evaluate
the basic model in a manner so
unrepresentative of its true energy
consumption characteristics as to
provide materially inaccurate
comparative data. 10 CFR 430.27(a)(1).
Petitioners must include in their
petition any alternate test procedures
known to the petitioner to evaluate the
basic model in a manner representative
of its energy consumption. 10 CFR
430.27(b)(1)(iii). The Assistant Secretary
may grant the waiver subject to
conditions, including adherence to
alternate test procedures. 10 CFR
430.27(l). Waivers remain in effect
pursuant to the provisions of 10 CFR
430.27(m).
The waiver process also allows the
Assistant Secretary to grant an interim
waiver from test procedure
requirements to manufacturers that have
petitioned DOE for a waiver of such
prescribed test procedures if it is
determined that the applicant will
experience economic hardship if the
1 For editorial reasons, upon codification in the
U.S. Code, Part B was re-designated Part A.
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mstockstill on DSK4VPTVN1PROD with NOTICES
application for interim waiver is denied,
if it appears likely that the petition for
waiver will be granted, and/or if the
Assistant Secretary determines that it
would be desirable for public policy
reasons to grant immediate relief
pending a determination on the petition
for waiver. 10 CFR 430.27(a)(2);
430.27(g). An interim waiver remains in
effect for a period of 180 days or until
DOE issues its determination on the
petition for waiver, whichever is sooner,
and may be extended for an additional
180 days, if necessary. 10 CFR
430.27(h).
Please note that on January 6, 2011,
DOE published a test procedure final
rule (76 FR 1032) to include provisions
for testing ventless clothes dryers. The
rule became effective on February 7,
2011, and requires compliance on or
after January 1, 2015. Ventless clothes
dryers manufactured on or after January
1, 2015, must be tested with the new
DOE test procedure.
II. Petition for Waiver of Test Procedure
On May 10, 2013, BSH filed a petition
for waiver and an application for
interim waiver from the test procedure
applicable to residential clothes dryers
set forth in 10 CFR part 430, subpart B,
appendix D. BSH seeks a waiver from
the applicable test procedure for its
Bosch WTB86200UC, WTB86201UC,
and WTB86202UC condensing clothes
dryers because, BSH asserts, design
characteristics of these models prevent
testing in accordance with the currently
prescribed test procedure, as described
in greater detail in the following
paragraph. DOE has already granted
BSH a similar waiver pertaining to their
condensing clothes dryers. See 76 FR
19087 (April 6, 2011) (interim waiver);
76 FR 33271 (June 8, 2011) (Decision
and Order). DOE also granted waivers
for the same type of clothes dryer to
Miele Appliance, Inc. (Miele) (60 FR
9330, February 17, 1995; 76 FR 17637,
March 30, 2011), LG Electronics (73 FR
66641, November 10, 2008), Whirlpool
Corporation (74 FR 66334, December 15,
2009), and General Electric (75 FR
13122, March 18, 2010). BSH claims
that its condensing clothes dryers
cannot be tested pursuant to the DOE
procedure and requests that the same
waiver granted to other manufacturers
be granted for BSH’s Bosch
WTB86200UC, WTB86201UC, and
WTB86202UC models.
In support of its petition, BSH claims
that the current clothes dryer test
procedure applies only to vented
clothes dryers because the test
procedure requires the use of an exhaust
restrictor on the exhaust port of the
clothes dryer during testing. Because
condensing clothes dryers operate by
blowing air through the wet clothes,
condensing the water vapor in the
airstream, and pumping the collected
water into either a drain line or an inunit container, these products do not
use an exhaust port like a vented dryer
does. BSH plans to market its
condensing clothes dryers for situations
in which a conventional vented clothes
dryer cannot be used, such as high-rise
apartments and other buildings where
exhaust venting is not practical or is
cost prohibitive.
The BSH Petition requests that DOE
grant a waiver from the existing test
procedure to allow for the sale of three
new models (Bosch WTB86200UC,
WTB86201UC, and WTB86202UC) until
DOE prescribes final test procedures
and minimum energy conservation
standards appropriate to condensing
clothes dryers. Similar to the other
manufacturers of condensing clothes
dryers, BSH did not include an alternate
test procedure in its petition.
III. Application for Interim Waiver
BSH also requests an interim waiver
from the existing DOE test procedure for
immediate relief. Under 10 CFR
430.27(b)(2), each application for
interim waiver ‘‘shall demonstrate likely
success of the Petition for Waiver and
shall address what economic hardship
and/or competitive disadvantage is
likely to result absent a favorable
determination on the Application for
Interim Waiver.’’ An interim waiver
may be granted if it is determined that
the applicant will experience economic
hardship if the application for interim
waiver is denied, if it appears likely that
the petition for waiver will be granted,
and/or if the Assistant Secretary
determines that it would be desirable for
public policy reasons to grant
immediate relief pending a
determination of the petition for waiver.
10 CFR 430.27(g).
DOE has determined that BSH’s
application for interim waiver does not
provide sufficient market, equipment
price, shipments, and other
manufacturer impact information to
permit DOE to evaluate the economic
hardship BSH might experience absent
a favorable determination on its
application for interim waiver. DOE
understands, however, that the BSH
condensing clothes dryers have a feature
that prevents testing them according to
the existing DOE test procedure. In
addition, as stated in the previous
section, DOE has previously granted
waivers to Miele, LG, Whirlpool and GE
for similar products. It is in the public
interest to have similar products tested
and rated for energy consumption on a
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comparable basis, where possible.
Further, DOE has determined that BSH
is likely to succeed on the merits of its
petition for waiver and that it is
desirable for policy reasons to grant
immediate relief.
IV. Interim Waiver Granted
For the reasons stated above, DOE
grants BSH’s application for interim
waiver from testing of its condensing
clothes dryer product line. Therefore, it
is ordered that:
The application for interim waiver
filed by BSH is hereby granted for BSH’s
Bosch WTB86200UC, WTB86201UC,
and WTB86202UC condensing clothes
dryers. Until a final decision is made on
its petition for waiver, BSH shall not be
required to test its Bosch WTB86200UC,
WTB86201UC, and WTB86202UC
condensing clothes dryers on the basis
of the test procedure under 10 CFR Part
430 subpart B, appendix D.
DOE makes decisions on waivers and
interim waivers for only those models
specifically set out in the petition, not
future models that may or may not be
manufactured by the petitioner. BSH
may submit a new or amended petition
for waiver and request for grant of
interim waiver, as appropriate, for
additional models of clothes dryers for
which it seeks a waiver from the DOE
test procedure. In addition, DOE notes
that grant of an interim waiver or waiver
does not release a petitioner from the
certification requirements set forth at 10
CFR 430.62.
Further, this interim waiver is
conditioned upon the presumed validity
of statements, representations, and
documents provided by the petitioner.
DOE may revoke or modify this interim
waiver at any time upon a
determination that the factual basis
underlying the petition for waiver is
incorrect, or upon a determination that
the results from the alternate test
procedure are unrepresentative of the
basic models’ true energy consumption
characteristics.
V. Summary and Request for Comments
Through today’s notice, DOE grants
BSH an interim waiver from the
specified portions of the test procedure
applicable to BSH’s Bosch
WTB86200UC, WTB86201UC, and
WTB86202UC condensing clothes
dryers and announces receipt of BSH’s
petition for waiver from those same
portions of the test procedure. DOE
publishes BSH’s petition for waiver in
its entirety pursuant to 10 CFR
430.27(b)(1)(iv). The petition contains
no confidential information.
DOE solicits comments from
interested parties on all aspects of the
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petition. Pursuant to 10 CFR
430.27(b)(1)(iv), any person submitting
written comments to DOE must also
send a copy of such comments to the
petitioner. The contact information for
the petitioner is: Mr. Mike Peebles,
Technical Services Manager, Laundry,
BSH Home Appliances Corporation, 100
Bosch Blvd., New Bern, NC 28562. All
submissions received must include the
agency name and case number for this
proceeding. Submit electronic
comments in WordPerfect, Microsoft
Word, Portable Document Format (PDF),
or text (American Standard Code for
Information Interchange (ASCII)) file
format and avoid the use of special
characters or any form of encryption.
Wherever possible, include the
electronic signature of the author. DOE
does not accept telefacsimiles (faxes).
According to 10 CFR 1004.11, any
person submitting information that he
or she believes to be confidential and
exempt by law from public disclosure
should submit two copies to DOE: one
copy of the document including all the
information believed to be confidential
and one copy of the document with the
information believed to be confidential
deleted. DOE will make its own
determination about the confidential
status of the information and treat it
according to its determination.
mstockstill on DSK4VPTVN1PROD with NOTICES
Issued in Washington, DC, on June 10,
2013.
Kathleen B. Hogan,
Deputy Assistant Secretary for Energy
Efficiency, Energy Efficiency and Renewable
Energy.
May 10, 2013
Dr. David T. Danielson,
Assistant Secretary, Energy Efficiency &
Renewable Energy, U.S. Department
of Energy, Mail Station EE–1, 1000
Independence Avenue SW.,
Washington, DC 20585,
david.danielson@ee.doe.gov.
Via email (David.Danielson@ee.doe.gov)
and overnight mail
Re: Petition of Waiver and Application
for Interim Waiver, BSH Condenser
Clothes Dryers
Dear Assistant Secretary Danielson:
BSH Home Appliances Corporation
(‘‘BSH’’) hereby submits this Petition for
Waiver and Application for Interim
Waiver, pursuant to 10 CFR 430.27, for
additional models of its condenser type
clothes dryers.
BSH is the manufacturer of household
appliances bearing the brand names of
Bosch, Thermador, and Gaggenau. Its
appliances include washing machines,
clothes dryers, dishwashers, ovens,
refrigerator-freezers, microwave ovens,
and vacuum cleaners, and are sold
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worldwide, including in the United
States. BSH’s United States operations
are headquartered in Irvine, California.
This petition and application are
based on the following major points:
1. BSH’s petition for new condenser
clothes dryers introduced in the
calendar year 2013 are for models
WTB86200UC, WTB86201UC,
WTB86202UC
2. DOE’s previously granted waiver
covering BSH’s current models
WTC82100US and WTE86300US. Case
No. CD–006, dated June 8, 2011 FR Vol.
76, No. 110, pg 33271. https://
www.regulations.gov/
#!documentDetail;D=EERE-2011-BTWAV-0025–0002
3. BSH’s new condenser dryers for
calendar year 2013 and current models
(waivered) have exactly the same drying
concept and principles in relation to the
applicable test procedures contained in
10 CFR part 430, subpart B, appendix
D—Uniform Test Method for Measuring
the Energy Consumption of Clothes
Dryers.
BSH request the same waiver be
granted for the new models
(WTB86200UC, WTB86201UC,
WTB86202UC) as was granted for the
current comparable products
(WTC82100US and WTE86300US).
Additional supplementary and
background information is attached and
can be reviewed at the end of this
petition and application.
The grounds for the previous and this
petition and application are:
a. BHS condenser type clothes dryers
do not vent exhaust air to the outside
(exterior of house or apartment) as a
conventional dryer does.
b. Having no exhaust vent this type
product is suited for installations where
exhaust venting is not practical or is
cost prohibitive. It thus benefits those
dwellers of high-rise apartments and
others who in many cases have no way
to vent to the outside or at least not
without considerable remodeling/
construction expense.
c. DOE’s test procedure ‘‘10 CFR part
430, subpart B, appendix D—Uniform
Test Method for Measuring the Energy
Consumption of Clothes Dryers’’ does
not provide any definition or means for
testing dryers without an exhaust vent
(condenser clothes dryers) and does not
take into account the complex
differences of energy usage between
vented and non-vented clothes dryers.
d. BSH is not aware of any alternative
test procedure to evaluate in a manner
representative of the energy
consumption characteristics of
condenser clothes dryers.
e. Lack of relief will impose economic
hardship on BSH:
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Æ The product would be subject to a
set of regulations that DOE already
acknowledges is not applicable to such
a product and cannot be complied with.
Proven by existing waiver for current
BSH dryers.
Æ BSH dryers are intended to be sold
as a pair with BSH washing machines;
an inability to sell the clothes dryer will
harm sales of the washing machine as
well.
The above clearly warrants a waiver.
10 CFR 430.27 provides for waiver of
DOE test procedures on the grounds that
design characteristics that either prevent
testing according to the prescribed test
procedure or produce data so
unrepresentative that true energy
consumption characteristics provide
materially inaccurate comparative data.
BSH condenser dryers contain a design
characteristic—lack of an exhaust—that
meet both these requirements. A waiver
should therefore be granted that
provides that BSH is not required to test
its condenser clothes dryers and the
existing minimum energy conservation
standard for clothes dryers also should
not apply to these BSH condenser
clothes dryers.
BSH also requests immediate relief by
grant of an interim waiver.
We would be pleased to discuss this
request with DOE and provide further
information as needed.
BSH will notify all clothes dryer
manufacturers of domestically marketed
units known to BSH of this petition and
application by letter.
Sincerely,
Mike Peebles
Technical Services Manager, Laundry,
BSH Home Appliances Corporation,
100 Bosch Blvd. New Bern, NC
28562, mike.peebles@bshg.com,
Phone (252) 636–4477
Additional supplementary and
background information:
i. From DOE’s decision June 8, 2011:
Action
Decision and Order.
Summary
The U.S. Department of Energy (DOE)
gives notice of the decision and order
(Case No. CD–006) that grants to BSH
Home Appliances Corporation (BSH) a
waiver from the DOE clothes dryer test
procedure. The waiver pertains to the
specified models of condensing
residential clothes dryer specified in
BSH’s petition. Condensing clothes
dryers cannot be tested using the
currently applicable DOE test
procedure. Under today’s decision and
order, BSH shall be not be required to
test and rate its specified models of
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residential condensing clothes dryer
pursuant to this test procedure.
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Dates
This Decision and Order is effective
June 8, 2011.
Supplementary Information
In accordance with Title 10 of the
Code of Federal Regulations (10 CFR),
Section 430.27(l), DOE gives notice of
the issuance of its decision and order as
set forth below. The decision and order
grants BSH a waiver from the applicable
residential clothes dryer test procedure
at 10 CFR Part 430 subpart B, appendix
D, for the two models of condensing
clothes dryer specified it its petition.
ii. Excerpts from previous BSH
petition for waiver
a. DOE’s existing test procedure for
clothes dryers requires the use of an
exhaust restrictor to simulate the
backpressure effects of a vent tube in an
installed condition. And the test
procedure does not provide any
definition or mention of condenser
clothes dryers. Since BSH’s condenser
clothes dryers do not have an exhaust
vent and the DOE test procedure does
not provide any definition or mention of
condenser clothes dryers, the products
cannot be tested in accordance with the
test procedure. Thus, the test procedure
does not apply to them. Consequently,
the DOE energy conservation standard
for clothes dryers does not apply to BSH
condenser dryers since the DOE
standard must be ‘‘determined in
accordance with test procedures
prescribed under section 6293 of this
title.’’ 42 U.S.C. 6291(6).
b. Further, the test procedure does not
provide any definition or mention of
condenser clothes dryers. The waiver
should remain in effect until DOE
prescribes final test procedures and
minimum energy conservation
standards appropriate to BSH’s
condenser clothes dryers.
c. A warranted waiver is borne out by
the fact that DOE has granted a waiver
to Miele for the same type of product.
60 FR 9330 (Feb. 17, 1995). DOE stated:
‘‘The Department agrees with Miele and
AHAM that the condenser clothes dryer
offers the consumer additional utility,
and is justified to consume more energy
(lower energy factor) versus noncondenser clothes dryers. Furthermore,
the Department believes that the
existing clothes dryer test procedure is
not applicable to the Miele condenser
clothes dryers. This assertion is based
on the fact that the existing test
procedure requires the use of an exhaust
restrictor and does not provide any
definition or mention of condenser
clothes dryers. The Department agrees
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with Miele that the current clothes dryer
minimum energy conservation standard
does not apply to Miele’s condenser
clothes dryers. Today’s Decision and
Order exempts Miele from testing its
condenser clothes dryer and
determining an Energy Factor. The
Department is not publishing an
amended test procedure for Miele at this
time because there is not any reason to.
The existing minimum energy
conservation standard for clothes dryers
is not applicable to the Miele condenser
clothes dryer. Furthermore, the FTC
does not have a labeling program for
clothes dryers, therefore, Miele is not
required to test its condenser clothes
dryers.’’
d. The basic purpose of the Energy
Policy and Conservation Act, as
amended by the National Appliance
Energy Conservation Act, is to foster
purchase of energy-efficient appliances,
not hinder such purchases. The BSH
condenser clothes dryer makes a dryer
available to households where for
physical, structural reasons a vented
dryer could otherwise not be installed.
BSH condenser clothes dryers thus offer
benefits in the public interest. To
encourage and foster the availability of
these products is in the public interest.
Standards programs should not be used
as a means to block innovative,
improved designs.2 DOE’s rules thus
should accommodate and encourage—
not act to block—such a product.
e. Granting the interim waiver and
waiver would also eliminate a non-tariff
trade barrier. In addition, grant of relief
would help enhance economic
development and employment,
including not only BSH’s operations in
California, North Carolina, and
Tennessee, but also at major national
retailers and regional dealers that carry
BSH products. Furthermore, continued
employment creation and ongoing
investments in its marketing, sales and
servicing activities will be fostered by
approval of the interim waiver.
Conversely, denial of the requested
relief would harm the company and
would be anticompetitive.
[FR Doc. 2013–14590 Filed 6–18–13; 8:45 am]
BILLING CODE 6450–01–P
2 See FTC Advisory Opinion No. 457, TRRP
1718.20 (1971 Transfer Binder); 49 FR 32213 (Aug.
13, 1984); 52 FR 49141, 49147–48 (Dec. 30, 1987).
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36763
DEPARTMENT OF ENERGY
Federal Energy Regulatory
Commission
Combined Notice of Filings #1
Take notice that the Commission
received the following exempt
wholesale generator filings:
Docket Numbers: EG13–43–000.
Applicants: Battery Utility of Ohio,
LLC.
Description: Notice of SelfCertification of Exempt Wholesale
Generator Status of Battery Utility of
Ohio, LLC.
Filed Date: 6/11/13.
Accession Number: 20130611–5133.
Comments Due: 5 p.m. ET 7/2/13.
Take notice that the Commission
received the following electric rate
filings:
Docket Numbers: ER10–1569–003;
ER12–21–007; ER10–2783–005; ER10–
2784–005; ER11–2855–007; ER10–2791–
005; ER10–2792–005; ER10–1564–004;
ER10–1565–004; ER10–2795–005;
ER10–2798–005; ER10–1575–003;
ER10–2799–005; ER10–2801–005;
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1136–002; ER10–2875–005; ER10–1568–
004; ER10–1581–006; ER10–2876–005;
ER10–2878–005; ER10–2879–005;
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ER10–2896–005; ER10–2913–005;
ER10–2914–005; ER10–2916–005;
ER10–2915–005; ER12–1525–004;
ER12–2019–003; ER12–2398–003;
ER10–1582–003; ER11–3459–003;
ER10–2931–005; ER10–2969–005;
ER11–4308–004; ER10–1580–006;
ER11–2856–007; ER11–2857–007;
ER10–2947–005; ER11–2504–003;
ER11–2505–003; ER11–2864–003;
ER11–2506–003; ER11–2508–003;
ER12–2137–003; ER11–2510–003;
ER12–2545–003; ER11–2863–003;
ER11–2854–003; ER11–2513–003;
ER11–2515–003; ER11–2742–003;
ER11–2784–003; ER11–2805–003;
ER10–3143–006.
Applicants: NRG Power Marketing
LLC, NRG Power Marketing LLC, Agua
Caliente Solar, LLC, Arthur Kill Power
LLC, Astoria Gas Turbine Power LLC,
Avenal Park LLC, Bayou Cove Peaking
Power LLC, Big Cajun I Peaking Power
LLC, Cabrillo Power I LLC, Cabrillo
Power II LLC, Conemaugh Power LLC,
Connecticut Jet Power LLC, Cottonwood
Energy Company, LP , Devon Power
LLC, Dunkirk Power LLC, El Segundo
Energy Center LLC, El Segundo Power,
E:\FR\FM\19JNN1.SGM
19JNN1
Agencies
[Federal Register Volume 78, Number 118 (Wednesday, June 19, 2013)]
[Notices]
[Pages 36760-36763]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2013-14590]
=======================================================================
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DEPARTMENT OF ENERGY
Office of Energy Efficiency and Renewable Energy
[Case No. CD-007]
Petition for Waiver and Notice of Granting the Application for
Interim Waiver of BSH Home Appliances Corporation From the DOE
Residential Clothes Dryer Test Procedure
AGENCY: Office of Energy Efficiency and Renewable Energy, Department of
Energy.
ACTION: Notice of Petition for Waiver, Granting of Application for
Interim Waiver, and Request for Public Comments.
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SUMMARY: This notice announces receipt of and publishes the BSH Home
Appliances Corporation (BSH) petition for waiver from specified
portions of the U.S. Department of Energy (DOE) test procedure for
determining the energy consumption of residential clothes dryers. The
waiver request pertains to BSH's specified models of condensing
residential clothes dryers. The existing test procedure does not apply
to condensing clothes dryers. In addition, today's notice grants BSH an
interim waiver from the DOE test procedure applicable to residential
clothes dryers. DOE solicits comments, data, and information concerning
BSH's petition.
DATES: DOE will accept comments, data, and information with respect to
BSH's Petition until July 19, 2013.
ADDRESSES: You may submit comments, identified by case number CD-007,
by any of the following methods:
Federal eRulemaking Portal: https://www.regulations.gov.
Follow the instructions for submitting comments.
Email: AS_Waiver_Requests@ee.doe.gov. Include the case
number [Case No. CD-007] in the subject line of the message.
Mail: Ms. Brenda Edwards, U.S. Department of Energy,
Building Technologies Program, Mailstop EE-2J, Petition for Waiver Case
No. CD-007, 1000 Independence Avenue SW., Washington, DC 20585-0121.
Telephone: (202) 586-2945. Please submit one signed original paper
copy.
Hand Delivery/Courier: Ms. Brenda Edwards, U.S. Department
of Energy, Building Technologies Program, 950 L'Enfant Plaza SW., Suite
600, Washington, DC 20024. Please submit one signed original paper
copy.
Docket: For access to the docket to review the background documents
relevant to this matter and comments received, you may visit the U.S.
Department of Energy, 950 L'Enfant Plaza SW (Resource Room of the
Building Technologies Program), Washington, DC, 20024; (202) 586-2945,
between 9:00 a.m. and 4:00 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. Bryan Berringer, U.S. Department of Energy, Building Technologies
Program, Mail Stop EE-2J, Forrestal Building, 1000 Independence Avenue
SW., Washington, DC 20585-0121. Telephone: (202) 586-0371. Email:
Bryan.Berringer@ee.doe.gov.
Mr. James Silvestro, U.S. Department of Energy, Office of the General
Counsel, Mail Stop GC-71, Forrestal Building, 1000 Independence Avenue
SW., Washington, DC 20585-0103. Telephone: (202) 286-4224. Email:
James.Silvestro@hq.doe.gov.
SUPPLEMENTARY INFORMATION:
I. Background and Authority
Title III, Part B of the Energy Policy and Conservation Act of 1975
(EPCA), Public Law 94-163 (42 U.S.C. 6291-6309, as codified),
established the Energy Conservation Program for Consumer Products Other
Than Automobiles, a program covering most major household appliances,
which includes the residential clothes dryers that are the focus of
this notice.\1\ Part B includes definitions, test procedures, labeling
provisions, energy conservation standards, and the authority to require
information and reports from manufacturers. Further, Part B authorizes
the Secretary of Energy to prescribe test procedures that are
reasonably designed to produce results which measure energy efficiency,
energy use, or estimated operating costs, and that are not unduly
burdensome to conduct. (42 U.S.C. 6293(b)(3)). The test procedure for
clothes dryers is contained in 10 CFR part 430, subpart B, appendix D.
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\1\ For editorial reasons, upon codification in the U.S. Code,
Part B was re-designated Part A.
---------------------------------------------------------------------------
DOE's regulations set forth in 10 CFR 430.27 contain provisions
that enable a person to seek a waiver from the test procedure
requirements for covered consumer products. A waiver will be granted by
the Assistant Secretary for Energy Efficiency and Renewable Energy (the
Assistant Secretary) if it is determined that the basic model for which
the petition for waiver was submitted contains one or more design
characteristics that prevents testing of the basic model according to
the prescribed test procedures, or if the prescribed test procedures
may evaluate the basic model in a manner so unrepresentative of its
true energy consumption characteristics as to provide materially
inaccurate comparative data. 10 CFR 430.27(a)(1). Petitioners must
include in their petition any alternate test procedures known to the
petitioner to evaluate the basic model in a manner representative of
its energy consumption. 10 CFR 430.27(b)(1)(iii). The Assistant
Secretary may grant the waiver subject to conditions, including
adherence to alternate test procedures. 10 CFR 430.27(l). Waivers
remain in effect pursuant to the provisions of 10 CFR 430.27(m).
The waiver process also allows the Assistant Secretary to grant an
interim waiver from test procedure requirements to manufacturers that
have petitioned DOE for a waiver of such prescribed test procedures if
it is determined that the applicant will experience economic hardship
if the
[[Page 36761]]
application for interim waiver is denied, if it appears likely that the
petition for waiver will be granted, and/or if the Assistant Secretary
determines that it would be desirable for public policy reasons to
grant immediate relief pending a determination on the petition for
waiver. 10 CFR 430.27(a)(2); 430.27(g). An interim waiver remains in
effect for a period of 180 days or until DOE issues its determination
on the petition for waiver, whichever is sooner, and may be extended
for an additional 180 days, if necessary. 10 CFR 430.27(h).
Please note that on January 6, 2011, DOE published a test procedure
final rule (76 FR 1032) to include provisions for testing ventless
clothes dryers. The rule became effective on February 7, 2011, and
requires compliance on or after January 1, 2015. Ventless clothes
dryers manufactured on or after January 1, 2015, must be tested with
the new DOE test procedure.
II. Petition for Waiver of Test Procedure
On May 10, 2013, BSH filed a petition for waiver and an application
for interim waiver from the test procedure applicable to residential
clothes dryers set forth in 10 CFR part 430, subpart B, appendix D. BSH
seeks a waiver from the applicable test procedure for its Bosch
WTB86200UC, WTB86201UC, and WTB86202UC condensing clothes dryers
because, BSH asserts, design characteristics of these models prevent
testing in accordance with the currently prescribed test procedure, as
described in greater detail in the following paragraph. DOE has already
granted BSH a similar waiver pertaining to their condensing clothes
dryers. See 76 FR 19087 (April 6, 2011) (interim waiver); 76 FR 33271
(June 8, 2011) (Decision and Order). DOE also granted waivers for the
same type of clothes dryer to Miele Appliance, Inc. (Miele) (60 FR
9330, February 17, 1995; 76 FR 17637, March 30, 2011), LG Electronics
(73 FR 66641, November 10, 2008), Whirlpool Corporation (74 FR 66334,
December 15, 2009), and General Electric (75 FR 13122, March 18, 2010).
BSH claims that its condensing clothes dryers cannot be tested pursuant
to the DOE procedure and requests that the same waiver granted to other
manufacturers be granted for BSH's Bosch WTB86200UC, WTB86201UC, and
WTB86202UC models.
In support of its petition, BSH claims that the current clothes
dryer test procedure applies only to vented clothes dryers because the
test procedure requires the use of an exhaust restrictor on the exhaust
port of the clothes dryer during testing. Because condensing clothes
dryers operate by blowing air through the wet clothes, condensing the
water vapor in the airstream, and pumping the collected water into
either a drain line or an in-unit container, these products do not use
an exhaust port like a vented dryer does. BSH plans to market its
condensing clothes dryers for situations in which a conventional vented
clothes dryer cannot be used, such as high-rise apartments and other
buildings where exhaust venting is not practical or is cost
prohibitive.
The BSH Petition requests that DOE grant a waiver from the existing
test procedure to allow for the sale of three new models (Bosch
WTB86200UC, WTB86201UC, and WTB86202UC) until DOE prescribes final test
procedures and minimum energy conservation standards appropriate to
condensing clothes dryers. Similar to the other manufacturers of
condensing clothes dryers, BSH did not include an alternate test
procedure in its petition.
III. Application for Interim Waiver
BSH also requests an interim waiver from the existing DOE test
procedure for immediate relief. Under 10 CFR 430.27(b)(2), each
application for interim waiver ``shall demonstrate likely success of
the Petition for Waiver and shall address what economic hardship and/or
competitive disadvantage is likely to result absent a favorable
determination on the Application for Interim Waiver.'' An interim
waiver may be granted if it is determined that the applicant will
experience economic hardship if the application for interim waiver is
denied, if it appears likely that the petition for waiver will be
granted, and/or if the Assistant Secretary determines that it would be
desirable for public policy reasons to grant immediate relief pending a
determination of the petition for waiver. 10 CFR 430.27(g).
DOE has determined that BSH's application for interim waiver does
not provide sufficient market, equipment price, shipments, and other
manufacturer impact information to permit DOE to evaluate the economic
hardship BSH might experience absent a favorable determination on its
application for interim waiver. DOE understands, however, that the BSH
condensing clothes dryers have a feature that prevents testing them
according to the existing DOE test procedure. In addition, as stated in
the previous section, DOE has previously granted waivers to Miele, LG,
Whirlpool and GE for similar products. It is in the public interest to
have similar products tested and rated for energy consumption on a
comparable basis, where possible. Further, DOE has determined that BSH
is likely to succeed on the merits of its petition for waiver and that
it is desirable for policy reasons to grant immediate relief.
IV. Interim Waiver Granted
For the reasons stated above, DOE grants BSH's application for
interim waiver from testing of its condensing clothes dryer product
line. Therefore, it is ordered that:
The application for interim waiver filed by BSH is hereby granted
for BSH's Bosch WTB86200UC, WTB86201UC, and WTB86202UC condensing
clothes dryers. Until a final decision is made on its petition for
waiver, BSH shall not be required to test its Bosch WTB86200UC,
WTB86201UC, and WTB86202UC condensing clothes dryers on the basis of
the test procedure under 10 CFR Part 430 subpart B, appendix D.
DOE makes decisions on waivers and interim waivers for only those
models specifically set out in the petition, not future models that may
or may not be manufactured by the petitioner. BSH may submit a new or
amended petition for waiver and request for grant of interim waiver, as
appropriate, for additional models of clothes dryers for which it seeks
a waiver from the DOE test procedure. In addition, DOE notes that grant
of an interim waiver or waiver does not release a petitioner from the
certification requirements set forth at 10 CFR 430.62.
Further, this interim waiver is conditioned upon the presumed
validity of statements, representations, and documents provided by the
petitioner. DOE may revoke or modify this interim waiver at any time
upon a determination that the factual basis underlying the petition for
waiver is incorrect, or upon a determination that the results from the
alternate test procedure are unrepresentative of the basic models' true
energy consumption characteristics.
V. Summary and Request for Comments
Through today's notice, DOE grants BSH an interim waiver from the
specified portions of the test procedure applicable to BSH's Bosch
WTB86200UC, WTB86201UC, and WTB86202UC condensing clothes dryers and
announces receipt of BSH's petition for waiver from those same portions
of the test procedure. DOE publishes BSH's petition for waiver in its
entirety pursuant to 10 CFR 430.27(b)(1)(iv). The petition contains no
confidential information.
DOE solicits comments from interested parties on all aspects of the
[[Page 36762]]
petition. Pursuant to 10 CFR 430.27(b)(1)(iv), any person submitting
written comments to DOE must also send a copy of such comments to the
petitioner. The contact information for the petitioner is: Mr. Mike
Peebles, Technical Services Manager, Laundry, BSH Home Appliances
Corporation, 100 Bosch Blvd., New Bern, NC 28562. All submissions
received must include the agency name and case number for this
proceeding. Submit electronic comments in WordPerfect, Microsoft Word,
Portable Document Format (PDF), or text (American Standard Code for
Information Interchange (ASCII)) file format and avoid the use of
special characters or any form of encryption. Wherever possible,
include the electronic signature of the author. DOE does not accept
telefacsimiles (faxes).
According to 10 CFR 1004.11, any person submitting information that
he or she believes to be confidential and exempt by law from public
disclosure should submit two copies to DOE: one copy of the document
including all the information believed to be confidential and one copy
of the document with the information believed to be confidential
deleted. DOE will make its own determination about the confidential
status of the information and treat it according to its determination.
Issued in Washington, DC, on June 10, 2013.
Kathleen B. Hogan,
Deputy Assistant Secretary for Energy Efficiency, Energy Efficiency and
Renewable Energy.
May 10, 2013
Dr. David T. Danielson,
Assistant Secretary, Energy Efficiency & Renewable Energy, U.S.
Department of Energy, Mail Station EE-1, 1000 Independence Avenue SW.,
Washington, DC 20585, david.danielson@ee.doe.gov.
Via email (David.Danielson@ee.doe.gov) and overnight mail
Re: Petition of Waiver and Application for Interim Waiver, BSH
Condenser Clothes Dryers
Dear Assistant Secretary Danielson:
BSH Home Appliances Corporation (``BSH'') hereby submits this
Petition for Waiver and Application for Interim Waiver, pursuant to 10
CFR 430.27, for additional models of its condenser type clothes dryers.
BSH is the manufacturer of household appliances bearing the brand
names of Bosch, Thermador, and Gaggenau. Its appliances include washing
machines, clothes dryers, dishwashers, ovens, refrigerator-freezers,
microwave ovens, and vacuum cleaners, and are sold worldwide, including
in the United States. BSH's United States operations are headquartered
in Irvine, California.
This petition and application are based on the following major
points:
1. BSH's petition for new condenser clothes dryers introduced in
the calendar year 2013 are for models WTB86200UC, WTB86201UC,
WTB86202UC
2. DOE's previously granted waiver covering BSH's current models
WTC82100US and WTE86300US. Case No. CD-006, dated June 8, 2011 FR Vol.
76, No. 110, pg 33271. https://www.regulations.gov/#!documentDetail;D=EERE-2011-BT-WAV-0025-0002
3. BSH's new condenser dryers for calendar year 2013 and current
models (waivered) have exactly the same drying concept and principles
in relation to the applicable test procedures contained in 10 CFR part
430, subpart B, appendix D--Uniform Test Method for Measuring the
Energy Consumption of Clothes Dryers.
BSH request the same waiver be granted for the new models
(WTB86200UC, WTB86201UC, WTB86202UC) as was granted for the current
comparable products (WTC82100US and WTE86300US).
Additional supplementary and background information is attached and
can be reviewed at the end of this petition and application.
The grounds for the previous and this petition and application are:
a. BHS condenser type clothes dryers do not vent exhaust air to the
outside (exterior of house or apartment) as a conventional dryer does.
b. Having no exhaust vent this type product is suited for
installations where exhaust venting is not practical or is cost
prohibitive. It thus benefits those dwellers of high-rise apartments
and others who in many cases have no way to vent to the outside or at
least not without considerable remodeling/construction expense.
c. DOE's test procedure ``10 CFR part 430, subpart B, appendix D--
Uniform Test Method for Measuring the Energy Consumption of Clothes
Dryers'' does not provide any definition or means for testing dryers
without an exhaust vent (condenser clothes dryers) and does not take
into account the complex differences of energy usage between vented and
non-vented clothes dryers.
d. BSH is not aware of any alternative test procedure to evaluate
in a manner representative of the energy consumption characteristics of
condenser clothes dryers.
e. Lack of relief will impose economic hardship on BSH:
[cir] The product would be subject to a set of regulations that DOE
already acknowledges is not applicable to such a product and cannot be
complied with. Proven by existing waiver for current BSH dryers.
[cir] BSH dryers are intended to be sold as a pair with BSH washing
machines; an inability to sell the clothes dryer will harm sales of the
washing machine as well.
The above clearly warrants a waiver. 10 CFR 430.27 provides for
waiver of DOE test procedures on the grounds that design
characteristics that either prevent testing according to the prescribed
test procedure or produce data so unrepresentative that true energy
consumption characteristics provide materially inaccurate comparative
data. BSH condenser dryers contain a design characteristic--lack of an
exhaust--that meet both these requirements. A waiver should therefore
be granted that provides that BSH is not required to test its condenser
clothes dryers and the existing minimum energy conservation standard
for clothes dryers also should not apply to these BSH condenser clothes
dryers.
BSH also requests immediate relief by grant of an interim waiver.
We would be pleased to discuss this request with DOE and provide
further information as needed.
BSH will notify all clothes dryer manufacturers of domestically
marketed units known to BSH of this petition and application by letter.
Sincerely,
Mike Peebles
Technical Services Manager, Laundry, BSH Home Appliances Corporation,
100 Bosch Blvd. New Bern, NC 28562, mike.peebles@bshg.com, Phone (252)
636-4477
Additional supplementary and background information:
i. From DOE's decision June 8, 2011:
Action
Decision and Order.
Summary
The U.S. Department of Energy (DOE) gives notice of the decision
and order (Case No. CD-006) that grants to BSH Home Appliances
Corporation (BSH) a waiver from the DOE clothes dryer test procedure.
The waiver pertains to the specified models of condensing residential
clothes dryer specified in BSH's petition. Condensing clothes dryers
cannot be tested using the currently applicable DOE test procedure.
Under today's decision and order, BSH shall be not be required to test
and rate its specified models of
[[Page 36763]]
residential condensing clothes dryer pursuant to this test procedure.
Dates
This Decision and Order is effective June 8, 2011.
Supplementary Information
In accordance with Title 10 of the Code of Federal Regulations (10
CFR), Section 430.27(l), DOE gives notice of the issuance of its
decision and order as set forth below. The decision and order grants
BSH a waiver from the applicable residential clothes dryer test
procedure at 10 CFR Part 430 subpart B, appendix D, for the two models
of condensing clothes dryer specified it its petition.
ii. Excerpts from previous BSH petition for waiver
a. DOE's existing test procedure for clothes dryers requires the
use of an exhaust restrictor to simulate the backpressure effects of a
vent tube in an installed condition. And the test procedure does not
provide any definition or mention of condenser clothes dryers. Since
BSH's condenser clothes dryers do not have an exhaust vent and the DOE
test procedure does not provide any definition or mention of condenser
clothes dryers, the products cannot be tested in accordance with the
test procedure. Thus, the test procedure does not apply to them.
Consequently, the DOE energy conservation standard for clothes dryers
does not apply to BSH condenser dryers since the DOE standard must be
``determined in accordance with test procedures prescribed under
section 6293 of this title.'' 42 U.S.C. 6291(6).
b. Further, the test procedure does not provide any definition or
mention of condenser clothes dryers. The waiver should remain in effect
until DOE prescribes final test procedures and minimum energy
conservation standards appropriate to BSH's condenser clothes dryers.
c. A warranted waiver is borne out by the fact that DOE has granted
a waiver to Miele for the same type of product. 60 FR 9330 (Feb. 17,
1995). DOE stated: ``The Department agrees with Miele and AHAM that the
condenser clothes dryer offers the consumer additional utility, and is
justified to consume more energy (lower energy factor) versus non-
condenser clothes dryers. Furthermore, the Department believes that the
existing clothes dryer test procedure is not applicable to the Miele
condenser clothes dryers. This assertion is based on the fact that the
existing test procedure requires the use of an exhaust restrictor and
does not provide any definition or mention of condenser clothes dryers.
The Department agrees with Miele that the current clothes dryer minimum
energy conservation standard does not apply to Miele's condenser
clothes dryers. Today's Decision and Order exempts Miele from testing
its condenser clothes dryer and determining an Energy Factor. The
Department is not publishing an amended test procedure for Miele at
this time because there is not any reason to. The existing minimum
energy conservation standard for clothes dryers is not applicable to
the Miele condenser clothes dryer. Furthermore, the FTC does not have a
labeling program for clothes dryers, therefore, Miele is not required
to test its condenser clothes dryers.''
d. The basic purpose of the Energy Policy and Conservation Act, as
amended by the National Appliance Energy Conservation Act, is to foster
purchase of energy-efficient appliances, not hinder such purchases. The
BSH condenser clothes dryer makes a dryer available to households where
for physical, structural reasons a vented dryer could otherwise not be
installed. BSH condenser clothes dryers thus offer benefits in the
public interest. To encourage and foster the availability of these
products is in the public interest. Standards programs should not be
used as a means to block innovative, improved designs.\2\ DOE's rules
thus should accommodate and encourage--not act to block--such a
product.
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\2\ See FTC Advisory Opinion No. 457, TRRP 1718.20 (1971
Transfer Binder); 49 FR 32213 (Aug. 13, 1984); 52 FR 49141, 49147-48
(Dec. 30, 1987).
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e. Granting the interim waiver and waiver would also eliminate a
non-tariff trade barrier. In addition, grant of relief would help
enhance economic development and employment, including not only BSH's
operations in California, North Carolina, and Tennessee, but also at
major national retailers and regional dealers that carry BSH products.
Furthermore, continued employment creation and ongoing investments in
its marketing, sales and servicing activities will be fostered by
approval of the interim waiver. Conversely, denial of the requested
relief would harm the company and would be anticompetitive.
[FR Doc. 2013-14590 Filed 6-18-13; 8:45 am]
BILLING CODE 6450-01-P