Energy and Water Use Labeling for Consumer Products Under the Energy Policy and Conservation Act (Energy Labeling Rule), 43974-44011 [2013-17553]
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Federal Register / Vol. 78, No. 141 / Tuesday, July 23, 2013 / Rules and Regulations
Dated: July 17, 2013.
Kevin J. Wolf,
Assistant Secretary for Export
Administration.
[FR Doc. 2013–17665 Filed 7–22–13; 8:45 am]
BILLING CODE 3510–33–P
FEDERAL TRADE COMMISSION
16 CFR Part 305
[3084–AB15]
Energy and Water Use Labeling for
Consumer Products Under the Energy
Policy and Conservation Act (Energy
Labeling Rule)
Federal Trade Commission
(‘‘FTC’’ or ‘‘Commission’’).
ACTION: Final rule.
AGENCY:
The Commission amends the
Energy Labeling Rule (‘‘Rule’’) by
updating comparability ranges and unit
energy costs for many EnergyGuide
labels. The Commission also issues a
conditional exemption and amendments
for modified refrigerator and clothes
washer labels to help consumers
compare the labels for these products
after the implementation of upcoming
changes to the Department of Energy
(‘‘DOE’’) test procedures.
DATES: The amendments published in
this document will become effective on
November 15, 2013.
ADDRESSES: Requests for copies of this
document should be sent to: Public
Reference Branch, Room 130, Federal
Trade Commission, 600 Pennsylvania
Avenue NW., Washington, DC 20580.
The complete record of this proceeding
is also available at that address.
Relevant portions of the proceeding,
including this document, are available
at https://www.ftc.gov.
FOR FURTHER INFORMATION CONTACT:
Hampton Newsome, (202) 326–2889,
Attorney, Division of Enforcement,
Bureau of Consumer Protection, Federal
Trade Commission, 600 Pennsylvania
Avenue NW., Washington, DC 20580.
SUPPLEMENTARY INFORMATION:
SUMMARY:
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I. Background
The Commission issued the Energy
Labeling Rule (‘‘Rule’’) in 1979,1
pursuant to the Energy Policy and
Conservation Act of 1975 (EPCA).2 The
Rule requires energy labeling for major
1 44
FR 66466 (Nov. 19, 1979) (Rule’s initial
promulgation).
2 42 U.S.C. 6294. EPCA also requires the DOE to
develop test procedures that measure how much
energy appliances use, and to determine the
representative average cost a consumer pays for
different types of energy.
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home appliances and other consumer
products, to help consumers compare
competing models. When first
published, the Rule applied to eight
categories: Refrigerators, refrigeratorfreezers, freezers, dishwashers, water
heaters, clothes washers, room air
conditioners, and furnaces. The
Commission subsequently expanded the
Rule’s coverage to include central air
conditioners, heat pumps, plumbing
products, lighting products, ceiling fans,
and televisions. The Commission is
currently conducting a regulatory
review of the Rule.3
The Rule requires manufacturers to
attach yellow EnergyGuide labels for
many of the covered products, and
prohibits retailers from removing the
labels or rendering them illegible. In
addition, the Rule directs sellers,
including retailers, to post label
information on Web sites and in paper
catalogs from which consumers can
order products. EnergyGuide labels for
covered products contain three key
disclosures: Estimated annual energy
cost (for most products); a product’s
energy consumption or energy
efficiency rating as determined from
DOE test procedures; and a
comparability range displaying the
highest and lowest energy costs or
efficiency ratings for all similar models.
For energy cost calculations, the Rule
specifies national average costs for
applicable energy sources (e.g.,
electricity, natural gas, oil) as calculated
by DOE. The Rule sets a five-year
schedule for updating comparability
range and annual energy cost
information.4 The Commission updates
the range information based on
manufacturer data submitted pursuant
to the Rule’s reporting requirements.
II. Notice of Proposed Rulemaking
In a Notice of Proposed Rulemaking
(NPRM) announced December 31,
2012,5 the Commission, consistent with
its five-year schedule, proposed to
update the comparability ranges
(Appendices A–J to Part 305) and
national average energy costs (Appendix
K to Part 305) for many EnergyGuide
labels. The NPRM also contained
several minor, proposed revisions and
updates to the label’s content, some
suggested by commenters as part of the
ongoing regulatory review. Finally, the
Commission proposed to grant a request
3 77 FR 15298 (Mar. 15, 2012) (regulatory review).
The Commission currently has another open
proceeding related to light bulb coverage. See 76 FR
45715 (Aug. 1, 2011) (proposed expanded light bulb
coverage).
4 16 CFR 305.10.
5 See https://www.ftc.gov/opa/2012/12/
energylabel.shtm. 78 FR 1779 (Jan. 9, 2013).
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from the Association of Home
Appliance Manufacturers (AHAM) for
an exemption related to labeling
requirements for refrigerators,
refrigerator-freezers, and freezers
(hereinafter referred to as
‘‘refrigerators’’), and clothes washers to
address recent DOE test procedures.
In response to the NPRM, the
Commission received 10 comments
from organizations and individuals as
well as 2,915 nearly identical letters
from individual consumers as part of a
mass mailing.6 As discussed in detail
below, the comments generally
supported the Commission’s proposals.
The Commission now publishes final
amendments on these issues, with some
minor changes detailed below.7
Although the present amendments,
along with an earlier final rule notice
published on January 10, 2013 (78 FR
2200), address several issues raised
during the regulatory review, the
Commission plans to consider
additional issues in a future notice.8
A. Comparability Range and Energy
Cost Revisions
Background: The NPRM contained
proposed revisions to the comparability
range and energy cost information for
many products bearing EnergyGuide
labels.9 In addition, the Commission
proposed to update the average energy
cost (e.g., 12 cents per kWh)
manufacturers must use to calculate a
model’s estimated energy cost for the
label based on updated national
6 See https://ftc.gov/os/comments/
energylabelrangers/index.shtm. The organizational
comments included: Alliance Laundry Systems LLC
(# 563707–00002 and # 563707–00012), Association
of Home Appliance Manufacturers (AHAM)
(#563707–00003 and #563707–00013), AirConditioning, Heating, and Refrigeration Institute
(AHRI) (#563707–00004 and #563707–00010), joint
comments from several energy, environmental and
consumer organizations (including Alliance to Save
Energy, Appliance Standards Awareness Project,
Consumer Federation of America, Consumers
Union, Earthjustice, Natural Resources Defense
Council, Public Citizen, and the Sierra Club) (‘‘Joint
Commenters’’) (#563707–00005 and #563707–
00011), and the California Independently Owned
Utilities Codes & Standards Team (CA IOU)
(#563707–00009), VanBrocklin (#563707–00008),
and individual consumer letters (2,915 letters from
individual consumers) (#563707–00006). All the
consumer letters, which were gathered and
submitted by Earthjustice, addressed the issue of
label categories for refrigerator configurations.
7 The amendments also contain several
corrections to the numbering for the Rule’s sample
labels (section 305.17 and Appendix L), the list of
states and capacity references on heating and
cooling equipment labels in Appendix L, references
to heating and cooling products in 305.12, and a
Web site address in 305.20.
8 77 FR 15298.
9 16 CFR 305.10. In addition to revising existing
comparability ranges, the Commission proposed to
include a new range for instantaneous electric water
heaters based on data submitted by industry.
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averages published by DOE.10 To effect
these changes, the NPRM proposed
amendments to the applicable tables in
the Rule’s appendices. The Commission
proposed to require manufacturers to
begin using this new information within
90 days after publication of a final
notice.
The Commission did not propose to
alter range and cost information for
EnergyGuide labels for four product
categories (refrigerators, clothes
washers, furnaces and central air
conditioners, and televisions) given
upcoming DOE regulatory changes
applicable to those products.11 Instead,
it proposed to wait and synchronize
changes with the impending DOE
regulations. By doing so, the
Commission sought to avoid several
label changes in a short time period,
which could confuse consumers and
burden manufacturers.
Comments: Comments (e.g., AHAM,
AHRI, and Alliance Laundry Systems)
generally supported the proposal to
update the label ranges. However, the
Joint Commenters, who argued generally
for more frequent range and cost
updates, criticized the timing of the new
range updates, including the proposed
delay for refrigerator and clothes washer
ranges pending upcoming DOE
standards and test procedure changes.
In addition, AHRI and AHAM offered
several small corrections and
suggestions. First, AHRI submitted
corrected data for the range numbers for
its members, fixing its inadvertent errors
in its earlier submission. AHRI also
explained that the ranges should not
include information for instantaneous
10 77 FR 29940 (Apr. 26, 2012) (DOE notice for
‘‘Representative Average Unit Costs of Energy’’).
11 For refrigerators and clothes washers, as
discussed below, the Commission will update range
and cost information after the upcoming
implementation of revised DOE standards and test
procedures, which will significantly change energy
use data for those products. See infra. Similarly, the
Commission has addressed range updates for
furnace and central air conditioner labels in a
separate proceeding. 78 FR 8362 (Feb. 6, 2013)
(regional standards labels). Finally, for televisions,
the Commission will issue revisions to the
television ranges in 16 CFR 305.17 after DOE adopts
a test procedure. 77 FR 2830 (Jan. 19, 2012)
(proposed DOE test procedure). The Commission
will also establish an annual reporting schedule for
television manufacturers at that time. Since EPCA
requires annual reporting based on DOE test
procedures and no DOE television test procedure
currently exists, the Rule currently contains no
reporting requirements. See 42 U.S.C. 6296(b)(4)
(FTC annual reporting requirements tied to DOE
test procedure); 16 CFR 305.8 (FTC reporting
requirements). In addition, these amendments do
not affect recently revised labeling requirements for
lighting products. 75 FR 41696 (July 19, 2010). The
Rule has separate provisions in section 305.15 for
energy cost disclosures on lighting products, which
are not included in the update schedule for
products labeled with the EnergyGuide under
section 305.11.
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electric water heaters because no DOE
test procedure exists for these products
and the labeling requirements have
never applied to them. In addition,
AHRI recommended revisions for the
gas pool heater ranges to reflect a
revised minimum efficiency standard
(82% thermal efficiency), which goes
into effect on April 16, 2013. Lastly,
AHAM suggested a 180-day compliance
period for the new ranges, instead of the
proposed 90-day period. AHAM
reasoned that additional time will
facilitate compliance and reduce the
waste of discarding previously printed
labels.
Discussion: The Commission issues
the final ranges as proposed, using the
updated data provided by AHRI and
implementing the following four, minor
changes.12 First, the final ranges do not
contain numbers for instantaneous
electric water heaters because these
products are not currently subject to
DOE test procedures. If DOE finalizes
testing and certification requirements
for these products in the future, the
Commission will consider conforming
amendments. Second, the Commission
amends the ranges for gas pool heaters
to reflect DOE standards that go into
effect on April 16, 2013. Third, the
Commission updates the average energy
costs for certain product labels based on
recently published DOE 2013 data.13 In
addition, the amendments maintain the
proposed 90-day compliance period
consistent with the Rule’s current
provision for such changes (16 CFR
305.10). The Commission has
consistently applied this interval in the
past with no apparent, undue burden
and does not wish to delay the range
updates further.
Finally, the Commission has sought to
synchronize the new range and cost
updates with other ongoing regulatory
changes to avoid multiple label changes
in a short time period. For example, the
Commission has coupled new ranges for
dishwashers, room air conditioners, and
water heaters in this Notice with several
label content changes (discussed in
section II.B. of this Notice), which
required an opportunity for comment
and thus additional time to
12 To aid manufacturers in transitioning to the
new ranges, FTC staff plans to provide sample label
template files on its Web site. See https://
business.ftc.gov/documents/energyguide-labelstemplate.
13 78 FR 17648 (Mar. 22, 2013). The relevant DOE
2013 energy costs for labeling include 12.01 cents
for electricity (rounded to 12 cents for the purposes
of the FTC label); $1.087 per therm for natural gas
(rounded to $1.09 per therm); $3.80 per gallon for
oil; and $2.41 per gallon for propane.
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promulgate.14 In addition, as discussed
in section III, the Commission plans to
issue new ranges for refrigerators and
clothes washers when the new DOE
standards and test procedures become
effective. The Commission, therefore, is
not updating ranges for those products
because such revised ranges would be
short-lived and based on many models
that are likely to become obsolete with
the arrival of the new DOE standards.15
B. Proposed Revisions and Updates to
Label Content
In addition to the proposed range and
cost updates, the NPRM proposed five
minor label changes to simplify and
improve the disclosures. The
Commission also sought comment on
the possible elimination of range
information on television labels and
increasing the frequency of changes to
range and cost information on all
EnergyGuide labels.
1. Label Content Changes
Background: Consistent with recently
implemented FTC labeling requirements
for light bulb and television labels,16 the
Commission proposed to round the
national average electricity (e.g., 12
cents per kWh) and natural gas (e.g.,
$1.09 per therm) rates to the nearest
cent to calculate the label’s estimated
annual operating (energy) cost. In the
past, the Rule has expressed these
figures as a fraction of a cent (e.g., 11.85
cents per kWh). A cost figure rounded
to whole cents should be more familiar
to consumers and not have any negative
impact on the label’s utility because any
differences in cost from such rounding
will be very small and apply to all
models.17
Second, also consistent with the
recent television and light bulb labeling
requirements, the NPRM proposed to
further simplify the label’s cost
disclosure by eliminating reference to
the year of the underlying energy cost
rate (e.g., ‘‘based on a 2007 national
average electricity cost of 10 cents per
kWh’’) (section 305.11(f)). Under the
14 In the past, the Commission has issued routine
range updates without seeking comments. See, e.g.,
70 FR 60716 (Oct. 24, 2005).
15 78 FR 8362 (Feb. 6, 2012). The Commission
plans to address the Joint Commenters’ general
concerns with the current range and cost update
schedule in a future notice as part of the overall
regulatory review.
16 75 FR 41696 (July 19, 2010) (light bulbs); 76 FR
1038 (Jan. 6, 2011) (televisions).
17 DOE’s 2012 national average energy cost data
lists electricity at 11.84 cents/kWh. 77 FR 24940
(Apr. 26, 2012) (DOE fuel cost update).
Accordingly, the FTC proposal would require
manufacturers to use 12 cents/kWh in calculating
energy cost for affected labels. The 2013 DOE figure
is 12.10 cents/kWh. Thus, the final rule continues
to use the rounded 12 cents/kWh.
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current rule, this date remains on the
label for five years. For example, labels
for a product introduced in 2011 state
that the cost figure derives from a 2007
national average. However, because
energy rates can increase or decrease
from year to year, the benefit of
disclosing this detail on the label does
not appear significant. More
importantly, this disclosure could cause
confusion. For instance, the ‘‘2007’’
reference in the example above may
incorrectly suggest to some consumers
that the product itself was produced in
2007. To avoid these problems, the
Commission proposed to eliminate the
reference to the year. The label would
simply read ‘‘based on a national
average electricity cost of . . . .’’
Third, based on comments in the
ongoing regulatory review for the Rule,
the Commission proposed to include a
new disclosure on room air conditioners
(section 305.11(f)) explaining that the
label’s cost estimate stems from an
assumed 750 hours of operation per
year.18 Similar estimates already appear
on other labels (e.g., four loads per week
for dishwashers and five hours per day
for televisions). This change should
help consumers gauge the product’s
estimated energy cost in the context of
their own use.
Fourth, the Commission proposed
amendments to replace the term
‘‘operating cost’’ with ‘‘energy cost’’
(section 305.11(f)). Some consumers
may understand the term ‘‘operating
cost’’ to include factors such as
detergent supplies or the product’s
depreciation. The inclusion of ‘‘energy
cost,’’ which already appears on the
labels for televisions and light bulbs,
should eliminate such problems. The
term also appears on new labels for
televisions and light bulbs. Finally, the
NPRM contained a proposed
conforming change to the Web site
address on the label, from www.ftc.gov/
appliances to www.ftc.gov/energy.
Comments: The comments generally
supported, or at least did not oppose,
these changes. For room air
conditioners, however, the Joint
Commenters and CA IOU comments
offered language different from that
proposed in the NPRM. The Joint
Commenters argued that the language
should express usage on a weekly or
monthly basis (e.g., ‘‘8 hours of use per
day for 3 months’’) instead of a yearly
basis (i.e., ‘‘750 hours per year’’). In
their view, the hours-per-year disclosure
covers ‘‘too large an amount and too
long a time horizon’’ to help consumers
determine their own costs. They also
argued that it is inconsistent with usage
assumptions on other energy labels that
provide weekly or daily figures (e.g.,
four loads per week for dishwashers,
eight loads per week for clothes
washers, five hours per day for
televisions, and three hours per day for
light bulbs). CA IOU further suggested
that the room air conditioner label
communicate usage through a table
illustrating estimated operating costs at
various annual time-periods (e.g., 750
hours per year) as well as electricity
rates. Finally, AHAM noted that,
beginning June 1, 2014, DOE will
require a new energy efficiency metric
called ‘‘combined energy efficiency ratio
(CEER)’’ for room air conditioners.19
This metric will replace ‘‘energy
efficiency ratio (EER)’’ that currently
appears on the label. The CEER takes
into account energy consumption in
standby and off mode. Though the new
metric will lead to only small changes
in annual energy estimates for room air
conditioners, AHAM recommended that
the Commission amend the label to
replace EER with CEER.
Discussion: The final amendments
implement the five label content
changes as generally proposed. In
response to the comments, the
Commission has modified the proposed
room air conditioner disclosure to
communicate the daily usage hours for
room air conditioners during a single
season rather than the total hours over
the course of the year (i.e., 750 hours per
year). The Commission agrees that this
disclosure will make it easier for
consumers to gauge the model’s
estimated energy cost against their own
use of the product. To simplify the
disclosure and avoid possible
confusion, the final language states that
the estimated annual energy cost is
based on ‘‘a seasonal use of 8 hours use
per day over a 3 month period.’’
Contrary to other suggestions, however,
the Commission has not included a
table with multiple cost estimates at
different usage rates because it would
significantly complicate the label’s
message, likely discouraging consumer
use.20
2. Television Range Information and
Range Updates
In addition, the Commission sought
comment on whether to retain range
19 77
FR 22454 (April 21, 2011).
the Commission notes AHAM’s
suggestion to change EER to CEER on the room air
conditioner label, consistent with upcoming DOE
changes, and will seek comments on such a
modification in a future notice.
20 Finally,
18 Joint Comments from Energy-Efficiency and
Consumer Organizations (May 16, 2012) (#560957–
00015) available at https://www.ftc.gov/os/
comments/energylabelamend/00015-83010.pdf.
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information on television labels 21 and
whether to update range and cost
information more frequently than every
five years. The Commission will address
these issues in a later notice as part of
the ongoing regulatory review for this
Rule.
C. Proposed Conditional Exemption for
Refrigerators and Clothes Washers
Background: In response to a request
from the AHAM,22 the Commission
proposed a conditional exemption and
rule amendments for refrigerators and
clothes washers. New DOE testing
procedures for these products, issued in
conjunction with new efficiency
standards, will change the methods for
calculating a model’s energy use and, as
a result, trigger substantial changes to
the energy information disclosed on
EnergyGuide labels. To aid consumers
in their comparison-shopping during
the transition period, the Commission
proposed a distinct label for models
tested under the new DOE procedures.
To ease the burden associated with the
transition to the new test procedures,
the Commission also proposed to allow
manufacturers to begin labeling new
models using the new DOE test
procedures several months before the
DOE compliance dates.23
The DOE regulatory changes
necessitating these label revisions
become effective on September 15, 2014
for refrigerators and March 7, 2015 for
clothes washers.24 The new, more
stringent conservation standards will
render a substantial portion of existing
refrigerator and clothes washer models
obsolete, and the updated test
procedures will yield substantially
different results than the current ones.
According to AHAM, the new
refrigerator test procedure will increase
the measured energy use of refrigerators
by approximately 14%, though the
increase will vary among product
classes, manufacturers, and individual
21 16
CFR 305.17(f).
comments (July 17, 2012) (# 560957–
00023) at https://www.ftc.gov/os/comments/
energylabelamend/00023-83190.pdf and (Sept. 11,
2012) (#560957–00025) at https://www.ftc.gov/os/
comments/energylabelamend/560957-0002584112.pdf.
23 The Commission issued similar modifications
in 2003 for clothes washer labels in response to
changes in the DOE test procedure. 68 FR 23584
(May 5, 2003).
24 76 FR 57516 (Sept. 15, 2011) (refrigerator
standards); 77 FR 3559 (Jan. 25, 2012) (refrigerator
test procedure); 77 FR 32308 (May 31, 2012)
(clothes washer standards); 77 FR 13888 (Mar. 7,
2012) (clothes washer test procedure). DOE rules
require compliance with the new test procedures
for all refrigerators by September 15, 2014 and for
all clothes washers by March 7, 2015.
22 AHAM
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models.25 In addition, the new clothes
washer test procedure bases annual
energy use estimates on 295 cycles per
year (approximately six per week),
instead of the current 392 cycles
(approximately eight per week), thus
reducing stated energy costs on the
EnergyGuide labels by about 25%.26
After manufacturers begin to test their
products using the new procedures,
showrooms and Web sites will contain
some models tested under the old
procedure and others tested under the
new one. This mix of EnergyGuide
labels could severely hamper product
comparisons.
To help facilitate the transition to the
new efficiency standards and to aid
shoppers who compare products during
this period, AHAM proposed two
measures. First, it sought permission to
use the new DOE tests for labeling
models introduced prior to DOE’s
compliance dates. AHAM sought to
begin using the new test procedures and
transitional labels for models
introduced after January 1, 2014 for
refrigerators, and June 1, 2014 for
clothes washers. Second, it
recommended different, transitional
EnergyGuide labels for these models, to
help consumers distinguish products
tested under the new procedure from
those tested under the old test regime.
AHAM asked that the Commission
require this modified label for products
tested under the new procedure until
DOE makes another substantial change
to the test procedure for those products.
In response, the Commission
proposed to exempt manufacturers from
certain EnergyGuide testing and labeling
requirements for refrigerator and clothes
washer models, subject to several
conditions. Specifically, the
Commission proposed to grant a
conditional exemption from the Rule’s
requirement that, for purposes of the
EnergyGuide label, manufacturers use
the estimated annual energy
consumption derived from the test
procedures presently required by
DOE.27 The Commission proposed to
grant this exception only to the extent
necessary to allow manufacturers 28 to
use the new test procedures on
refrigerator (including refrigerators,
25 AHAM comments (May 16, 2012) (#560957–
0013) at https://www.ftc.gov/os/comments/
energylabelamend/00013-83038.pdf.
26 See 77 FR 13888, 13933 (Mar. 7, 2012) (DOE
clothes washer test procedure). The new DOE test
procedure also includes the cost of energy
consumed in non-active wash modes.
27 16 CFR 305.5(a) and 305.11(a) (FTC testing and
labeling); see also 10 CFR Part 430 (DOE test
procedures).
28 Consistent with the Rule’s requirements, the
proposed exemption applies to both manufacturers
and private labelers.
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refrigerator-freezers, and freezers) and
clothes washer models manufactured
after January 1, 2014 (for refrigerators)
and June 1, 2014 (for clothes washers).
The Commission also proposed several
conditions for the exemption, including
the version of the DOE test that must be
used, label disclosures about ranges,
electricity rates, usage assumptions, and
a special disclosure on the label reading:
‘‘Compare to other labels with yellow
numbers. Appliances that have labels
with black numbers were tested
differently to estimate cost and
electricity used.’’
To ensure label consistency following
the exemption period, the Commission
also proposed to require the new labels
after the new DOE test procedures
become effective, by amending sections
305.5(a) and 305.11 of the Rule. Thus,
the new labels would apply to all
refrigerators and clothes washers
distributed on, or after, the new DOE
test procedure compliance dates
(September 15, 2014 for refrigerators
and March 7, 2015 for clothes washers).
The Commission proposed to maintain
this new label until DOE further amends
the test procedures for these products.
In addition, the Commission stated that
it would issue new comparability ranges
for those products once it receives
product data reflecting new and existing
models tested under the new DOE
procedures.
Comments: The comments generally
supported the creation of distinct labels
for refrigerators and clothes washers
tested under the new test procedure. For
example, AHAM explained that,
without these proposed modifications,
consumers will be confused given the
significant changes resulting from the
test procedure modifications. In its
view, the proposed labels will
effectively communicate to consumers
that they should not compare the old
and new labels. No comments opposed
the proposal.
In supporting the proposal, AHAM
offered two minor recommendations.
First, it suggested slightly different
wording for the new label’s disclosure:
‘‘Compare only to other labels with
yellow numbers. These appliances were
tested according to new U.S.
Government requirements.’’ 29 AHAM
raised concerns that the proposed
phrase, ‘‘tested differently,’’ is
ambiguous and might leave consumers
‘‘wondering how and why the
appliances were tested differently.’’
AHAM argued its proposed language
will give consumers enough information
to understand the label without
29 Alliance Laundry also supported AHAM’s
proposed language modifications.
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43977
providing too much detail, which could
be confusing. AHAM also urged the
Commission to provide additional
information about the upcoming
transition on the Commission’s Web
site. Finally, AHAM recommended the
inclusion of a reference to Appendix B
in DOE’s regulations, which is the
revised test procedure for freezers
because these products are also covered
by the exemption.
Discussion: The Commission issues
the proposed conditional exemption
and amends the Rule to create a distinct
label for refrigerators and clothes
washers tested under the new DOE
procedures. The transitional labels will
avoid the display of a misleading mix of
test results on EnergyGuide labels. In
addition, the changes will reduce
burdens by allowing refrigerator and
clothes washer manufacturers to roll out
new high-efficiency models well before
the DOE compliance date and thus
avoid the logistical complications
associated with designing, producing,
and testing many models at the same
time.30 Early compliance will also
provide an incentive for manufacturers
to introduce models that meet the more
stringent energy standards sooner, thus
providing consumers with more highefficiency choices.31 The Commission
will provide information on its Web site
to ensure information about the new
label is available to consumers. Finally,
the Commission agrees that AHAM’s
suggested language is less confusing and
adopts it with a minor modification.
The final language reads: ‘‘Compare
ONLY to other labels with yellow
numbers. Labels with yellow numbers
are based on the same test procedures.’’
The Commission has substituted the
phrase ‘‘the same test procedures’’ for
AHAM’s suggested ‘‘new U.S.
Government requirements’’ to simplify
the message and because the word
‘‘new’’ may mislead or confuse
consumers in the future when the
30 To facilitate the early introduction of these
higher-efficiency models, DOE has announced that
manufacturers may certify these models with DOE
using the new test procedures, thus relieving them
from having to test new models under both the old
and new test procedures during the transition
period. On June 29, 2012, DOE issued guidance
permitting early compliance with new or amended
test procedures and standards. See https://
www1.eere.energy.gov/buildings/
appliance_standards/pdfs/tp_faq_2012-06-29.pdf.
Thus, in DOE’s view, manufacturers may begin
using the new test procedures before the dates
specified for compliance by DOE.
31 AHAM also requested guidance on whether
manufacturers must change model numbers for
products during the DOE transition period. Unless
the manufacturer modifies the model in a way that
affects its energy performance, the Commission
does not recommend changing model numbers
during the transition.
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revised test procedures will no longer be
new.
The Commission grants
manufacturers an exemption allowing
them to use the results of DOE’s new
procedures and provide those results on
EnergyGuide labels several months
before the DOE compliance date for the
new procedures.32 The Commission
grants this exemption only to the extent
necessary to allow manufacturers 33 to
use the new test procedures on new or
existing refrigerator models (including
refrigerators, refrigerator-freezers, and
freezers) manufactured after January 1,
2014 and clothes washer models
manufactured after June 1, 2014. If a
manufacturer continues to use the
current (i.e., older) test results for a
particular model until the new test
procedures become mandatory on
September 15, 2014 (for refrigerators)
and March 7, 2015 (for clothes washers),
the manufacturer must use the current
label for that model. Manufacturers
remain obligated to comply with all
other Rule requirements. The
Commission grants this exemption on
the following additional conditions:
(1) For models manufacturers choose
to test and label under the exemption,
manufacturers must follow the new
DOE test procedures in 10 CFR Part 430,
Subpart B, Appendix A (refrigerators),
Appendix B (freezers), and Appendix J2
(clothes washers) to determine the
energy use figures printed on
EnergyGuide labels; 34
(2) For all such models,
manufacturers must use EnergyGuide
labels, as illustrated in Sample Labels
1A and 2A in Appendix L, with the
energy cost and electricity use figures in
yellow text framed by block boxes and
containing the statement ‘‘Compare
ONLY to other labels with yellow
numbers. Labels with yellow numbers
are based on the same test procedures.’’
(3) For all such models,
manufacturers must print the estimated
energy cost on the label above the center
of the comparability range, and the
following statement must appear
directly below the range: ‘‘Cost Range
Not Available,’’ as illustrated in Sample
Labels 1A and 2A of this Notice; 35
32 The Rule directs manufacturers to use the
results of current DOE test procedures on their
labels. 16 CFR 305.5(a) and 305.11(a) (FTC testing
and labeling); see also 10 CFR Part 430 (DOE test
procedures).
33 Consistent with the Rule’s requirements, the
proposed exemption applies to both manufacturers
and private labelers.
34 Manufacturers also may use the new test
procedures for labeling existing products during
this period, but must follow all conditions of this
exemption in doing so.
35 The Commission will publish range
information for the new labels once energy data
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(4) For all such models, the label must
state that the estimated energy cost is
based on a national average electricity
cost of 12 cents per kWh and, for clothes
washers, $1.09 per therm; 36 and
(5) For all such clothes washer
models, the label must state that the
estimated energy cost is based on six
wash loads per week and, as discussed
below, must provide capacity in cubic
feet.37
To ensure consistency following the
exemption period, the Commission also
amends the Rule at sections 305.5(a)
and 305.11 to require these new labels
after the test procedure transition. Thus,
the new labels apply to all refrigerators
and clothes washers manufactured on,
or after, the DOE new test procedure
compliance dates (September 15, 2014
for refrigerators and March 7, 2015 for
clothes washers). These new labels,
which clearly differentiate the
procedures used to test each product,
will prevent the consumer confusion
that would result if a single label
included information derived from
different test procedures. The
Commission plans to maintain this new
label until DOE further amends the test
procedures. In addition, after the
Commission receives product data
reflecting new and existing models
tested under the new DOE procedures,
it intends to issue new comparability
ranges for those products.
D. Additional Refrigerator and Clothes
Washer Issues
In its NPRM, the Commission also
discussed three issues related to
refrigerators and clothes washers raised
in response to the regulatory review
notice: (1) Changes to refrigerator range
categories; (2) disclosures for
refrigerator models with optional
icemakers; and (3) capacity information
for clothes washers.
1. Refrigerator Comparability Range
Categories
Background: The current rule
organizes refrigerator comparability
ranges by product configuration (e.g.,
becomes available for refrigerators and clothes
washers tested under the new procedure, most
likely in 2015.
36 New range and cost updates, as well as minor
label changes discussed in section II.B. (i.e., fuel
rates to the nearest cent and the use of ‘‘energy
cost’’ instead of ‘‘operating cost’’), are not required
for refrigerator and clothes washer labels until the
new DOE test procedure compliance dates
(September 15, 2014 for refrigerators and March 7,
2015 for clothes washers).
37 The new DOE test procedure changes the
estimated weekly clothes washer cycles from eight
to six. 77 FR 13888 (DOE clothes washer test
procedure). Manufacturers must disclose the new
usage assumption (six cycles per week) on labels for
models tested under the new procedure.
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models with top-mounted freezers) in
Appendices A1–A8. These categories
allow consumers to compare the energy
use of similarly configured products.
The requirements designate eight
separate range categories for
refrigerators and three for freezers.
Similarly, the current rule contains
three separate range categories for standalone freezer configurations in
Appendices B1–B3.38 These ranges
disclose the energy costs associated
with the most and least efficient models
in a particular category. Specifically, for
automatic-defrost refrigerator freezers,
which typically populate the bulk of
showroom floors, the Rule contains five
categories (or styles): side-by-side door
models with and without through-thedoor ice service (Appendices A5 and
A8); top-mounted freezer models with
and without through-the-door ice
service (A4 and A7); and bottommounted freezer models (A6). The Rule
also has ranges for less common models,
including those with manual and partial
defrost models (A1 and A2), and
refrigerator-only models (A1).39
In response to last year’s regulatory
review notice, several energy-efficiency
and consumer groups urged the
Commission to consolidate the
comparability ranges into a single range
covering all configurations.40 They
reasoned one range would allow
consumers to compare a product’s
energy performance against all other
models. AHAM opposed this approach,
arguing that consolidation would cast
fully-featured products that use more
energy in an unfavorable light. AHAM
also pointed to data suggesting that
consumers usually replace their existing
refrigerators with similarly configured
models. AHAM acknowledged,
however, that it had no detailed
information directly addressing whether
consumers shop with a specific
configuration in mind. It concluded
that, without clear data on consumer
shopping habits, the Commission
should refrain from changing the
current ranges.41
In the January 9, 2013 NPRM,42 the
Commission did not propose to alter the
refrigerator ranges, stating a reluctance
to alter existing requirements without
38 The Rule further divides each model category
into several size classes (e.g., 19.5 to 21.4 cubic
feet), each with its own comparability range.
39 See 16 CFR Part 305, Appendices A and B.
40 Joint Comments from Energy-Efficiency and
Consumer Organizations (May 16, 2012) (#560957–
00015) available at https://www.ftc.gov/os/
comments/energylabelamend/00015-83010.pdf.
41 AHAM comments (Sept. 11, 2012) (# 560957–
00025) available at https://www.ftc.gov/os/
comments/energylabelamend/560957-0002584112.pdf.
42 78 FR 1785.
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providing further opportunity for
comment and in the absence of
information about consumer buying
habits. After DOE’s new standards for
refrigerators become effective in late
2014, the Commission indicated it
would examine new range data and
consider whether to propose changes to
the range categories.
Comments: In response to the January
2013 NPRM, several commenters
provided views about the organization
of refrigerator range categories. AHAM
maintained that the Commission should
not change the current requirements
without supporting data on consumer
shopping habits. In contrast, the Joint
Commenters urged the Commission to
consolidate the ranges, citing data from
Consumer Reports and AHAM
suggesting that consumers do not limit
their shopping comparisons to
similarly-configured models. The Joint
Commenters also submitted the results
of an email survey to Earthjustice
members demonstrating a strong
preference for the consolidation of the
comparison categories. The Joint
Commenters also submitted more than
2,000 letters from Earthjustice members
urging the Commission to consolidate
these ranges. CA IOU also called on the
Commission to change the label, but
suggested the inclusion of two
comparison ranges, one to compare
similarly configured models and
another to compare all models,
regardless of configuration.
Discussion: The final rule does not
change the refrigerator ranges. The
Commission plans to update the ranges
after DOE standards and test procedure
become effective in 2014. Until that
time, there will be no range information
for the models tested under the new
procedure, regardless of which category
or subcategory apply. Once it receives
new data, the Commission will examine
the new data to determine whether the
elimination of subcategories makes a
practical difference in the ranges. In the
meantime, the Commission will also
consider the commenter views and, if
appropriate, propose changes to the
refrigerator range structure in a future
notice.
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2. ‘‘Icemaker Ready’’ RefrigeratorFreezer Models
Background: Currently, refrigerator
labels do not reflect icemaker energy
consumption because the current DOE
test procedure does not measure a
model’s icemaker operation. The new
DOE procedures, however, will account
for icemakers. Therefore, the new labels
will include icemaker energy
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consumption.43 The new DOE testing
rules divide relevant products into two
categories (i.e., units with pre-installed
icemakers and units without). Each
category will have its own EnergyGuide
labels reflecting different tests. In light
of this change, AHAM has raised
concerns about so-called ‘‘kitable’’
models (i.e., models that can be fitted
with an icemaker before or after
purchase).44 In earlier comments,
AHAM suggested that all ‘‘kitable’’
refrigerator labels should disclose the
energy use of the model shipped
without the optional icemaker to avoid
overstating energy costs for models that
may never have an icemaker. In
addition, AHAM suggested additional
label language to inform retailers and
consumers that the addition of an
icemaker will increase the model’s
energy costs.
In the NPRM, the Commission agreed
that AHAM’s proposal merited
consideration, but noted that DOE plans
to reexamine the treatment of these
models under its test procedure, a
reexamination that might provide
guidance that addresses AHAM’s
concerns.45 Accordingly, the
Commission announced it would not
impose additional testing-related
disclosures for these products until DOE
completed its deliberations.
Comments: In response to the NPRM,
AHAM continued to urge the
Commission to provide guidance on
labeling ‘‘icemaker ready’’ models given
impending DOE test procedure changes
impacting these products. Clarifying its
earlier comments, AHAM explained that
manufacturers only consider a model
‘‘kitable’’ or ‘‘icemaker ready’’ if it
leaves the factory without the icemaker.
In addition, once the model leaves the
manufacturer’s control, distributors,
retailers, or other entities may add an
icemaker, which, in some cases, might
be made by a third party. According to
AHAM, manufacturers assign ‘‘kitable’’
models with one model number.
AHAM explained that the new 2014
refrigerator-freezer DOE test procedure
will account for icemaker energy via a
uniform ‘‘adder’’ of 84 kWh per year for
all models with icemakers.46 According
43 16 CFR 305.5 (FTC testing rules); 10 CFR Part
430, Subpart B, Appendix A (DOE refrigerator
tests).
44 AHAM comments (May 16, 2012, and October
31, 2012) at https://www.ftc.gov/os/comments/
energylabelamend/00013-83038.pdf.
45 77 FR 3559, 3569 (DOE notice on refrigerator
testing requirements effective Sept. 15, 2014).
46 The 2014 testing rules, according to AHAM,
also require manufacturers to certify icemaker-ready
refrigerator-freezers as two separate models (i.e.,
with an icemaker and without an icemaker) because
a consumer may purchase either version. See 76 FR
57516.
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43979
to AHAM, DOE is considering changes
to the test procedure to include specific
measurements for icemaker energy use,
an effort which may lead to further
changes to the standards in a few
years.47
Pending further modifications to the
DOE test procedure, AHAM asked the
Commission to provide labeling
requirements to address the icemaker
energy of these products. In particular,
AHAM recommended that the
Commission require a single label on
‘‘kitable’’ models disclosing the
product’s energy use without the
icemaker. AHAM reasoned that, because
such models do not include icemakers
when they leave the factory, and may
never receive one, the inclusion of
icemaker energy would be inaccurate in
many cases. To address the possibility
that these units may later receive an
icemaker, AHAM also proposed the
following label statement: ‘‘With an
icemaker, estimated yearly electricity
use is estimated to increase by 84 kWh/
year, which adds $9 to the estimated
yearly operating cost.’’ Such an
approach, in AHAM’s view, will
provide an easily applied and
enforceable bright line rule. It also
provides consumers with clear and
accurate information about the
refrigerator, whether it eventually
includes an icemaker, or not.
Discussion: The Commission will
consider ways to address icemaker
energy use after DOE provides
additional guidance on this issue or
changes its testing rules. As indicated in
an attachment to its comments, AHAM
has requested additional guidance from
DOE on its testing and certification
requirements for ‘‘kitable’’ models in
anticipation of the new testing rules
scheduled for 2014. Although it may be
possible for the Commission to impose
labeling requirements before such
guidance is issued, it is reluctant to do
so, given the evolving understanding of
these issues by AHAM, DOE, and the
FTC. The Commission will continue to
monitor guidance from DOE and, if
necessary, address this issue either
through rulemaking or staff guidance.48
At this time, the Commission agrees
with AHAM that a generic label
statement disclosing icemaker energy
costs for ‘‘kitable’’ models may be
appropriate. However, the Commission
47 AHAM predicted that these future DOE test and
standards changes will provide an opportunity for
FTC to return to the current EnergyGuide label
design for these products.
48 If DOE does not issue additional information on
this issue in the near future, the Commission
understands that some manufacturers may need
guidance to label some models manufactured as
early as January 2014.
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does not necessarily agree that the
label’s primary disclosure (i.e.,
estimated yearly energy cost) should
exclude icemaker energy, as AHAM
recommends. This exclusion could
underestimate energy cost for many
consumers, particularly if many units
will eventually include an icemaker.
Therefore, absent data demonstrating
that most units never include an
icemaker, the better approach arguably
may be to include icemaker energy in
the primary disclosure and explain
elsewhere on the label that an icemakerfree unit will reduce the unit’s energy
cost.
3. Clothes Washer Capacity
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Background: Last year, the
Commission proposed to require
specific capacity information in cubic
feet on EnergyGuide labels for clothes
washers.49 AHAM opposed the
proposal, citing potential burdens to
manufacturers in specifying capacity for
each individual model. In the NPRM,
the Commission sought additional
comments, but also noted that DOE data
for clothes washers suggests that the
proposed change would only require
new labels for a small fraction of
models.50
Current EnergyGuide labels indicate
whether the model is ‘‘standard’’ or
‘‘compact,’’ but do not specify volume
(e.g., 3.5 cubic feet). In the current
market, most models fall into the broad
‘‘standard’’ size class (i.e., models with
tub capacities greater than 1.6 cubic
feet), but actual capacity varies
significantly. Thus, the general capacity
disclosure provides little assistance to
consumers in distinguishing washer
size. A specific capacity disclosure
should help consumers make product
comparisons, and complement recent
DOE and industry efforts to ensure
uniformity in capacity disclosures.51
Comments: In response to the NPRM,
AHAM continued to oppose the
inclusion of specific capacity
information on EnergyGuide labels for
clothes washer labels, including those
subject to the proposed conditional
exemption.52 AHAM argued that the
49 77 FR 15302 (proposing to amend 16 CFR
305.7(g) to include clothes washer capacity on the
label).
50 See DOE clothes washer data at https://
www.regulations.doe.gov/ccms/.
51 See 75 FR 57556, 57575 (Sept. 21, 2010) (DOE
clothes washer notice) and https://www.aham.org/
ht/a/GetDocumentAction/i/51727.
52 AHAM objected to the original proposal,
arguing that it will greatly increase the number of
labels manufacturers have to produce because some
manufacturers use a single label for multiple,
differently-sized models that have the same energy
use rating. In the NPRM, the Commission noted
that, based on existing DOE data for clothes washer
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Commission has failed to point to any
data showing that consumers find
existing capacity information
insufficient. It also noted that capacity
information is available from other
sources.53 Accordingly, AHAM argued
that the Commission should not add
this new requirement.
Other commenters disagreed. One
industry member, Alliance Laundry
Systems, supported the inclusion of
specific capacity information explaining
the disclosure is consistent with DOE
requirements, and avoids possible
confusion by retailers or consumers.54
Similarly, the Joint Commenters
continued to support the FTC’s proposal
to require specific capacity rather than
just ‘‘standard’’ or ‘‘compact,’’ noting
that capacity may be helpful to
consumers comparing the operating
costs of different models because
capacity is directly proportional to
estimated annual operating costs.55
Discussion: The final rule requires the
inclusion of capacity on clothes washer
labels. In response to AHAM’s
comment, the final amendments use the
term ‘‘tub volume’’ in addition to
‘‘capacity.’’ 56 This disclosure must
appear on units labeled under the
conditional exemption in 2014 and on
all clothes washer labels for units
manufactured on or after March 7, 2015.
Specific capacity (i.e., volume)
information, which also appears on
EnergyGuide labels for several other
product types, will allow consumers to
easily to compare the size and energy
cost of competing models. Industry
members have used different methods
for capacity disclosures in the past.57 A
models, the number of these models would likely
be small. See 78 FR 1784–85.
53 AHAM noted that, although FTC and DOE
regulations used the term ‘‘capacity,’’ ‘‘volume’’
provides a better description of the washer drum’s
cubic foot measurement. The term ‘‘capacity,’’ as
AHAM typically uses it, refers to the quantity of
clothes that can be effectively washed and rinsed
in a single load.
54 Alliance also noted that its own cost for
including this information on labels is ‘‘minimal to
non-existent.’’ However, Alliance noted that some
manufacturers may need to create unique labels for
models that had been grouped together in the past
for labeling purposes.
55 In earlier comments, PG&E supported the
specific capacity disclosure proposed in the
regulatory review notice, suggesting it might
‘‘prompt consumers to think more critically about
the utility of different sized washers, and also
[their] associated energy and water requirements.’’
Pacific Gas and Electric Company (PG&E)
comments (May 15, 2012) (#00009) at https://
www.ftc.gov/os/comments/energylabelamend/
00009-82974.pdf.
56 The final label also clarifies that the terms
‘‘standard’’ and ‘‘compact’’ refer to the product’s
capacity class, not its specific capacity (e.g., 2.8
cubic feet).
57 See 75 FR 15298, 15302 (Mar. 15, 2012)
(discussing industry efforts to harmonize capacity
disclosures).
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consistent disclosure based on a
consistent DOE-mandated procedure
will help avoid such problems in the
future and thus will benefit consumers.
In addition, because manufacturers
already generate volume information
from the DOE test procedure, the
disclosure should impose little burden
when manufacturers update the clothes
washer labels. Accordingly, these
considerations provide a reasonable
basis to conclude that capacity
information on the clothes washer labels
is appropriate for the EnergyGuide label.
IV. Paperwork Reduction Act
The current Rule contains
recordkeeping, disclosure, testing, and
reporting requirements that constitute
information collection requirements as
defined by 5 CFR 1320.3(c), the
definitional provision within the Office
of Management and Budget (OMB)
regulations that implement the
Paperwork Reduction Act (PRA). OMB
has approved the Rule’s existing
information collection requirements
through February 29, 2016 (OMB
Control No. 3084 0069). The
amendments do not change the
substance or frequency of the
recordkeeping, disclosure, or reporting
requirements and, therefore, do not
require further OMB clearance.
V. Regulatory Flexibility Act
The provisions of the Regulatory
Flexibility Act relating to a Regulatory
Flexibility Act analysis (5 U.S.C. 603–
604) are not applicable to this
proceeding because the amendments do
not impose any new obligations on
entities regulated by the Energy
Labeling Rule. As explained in detail
elsewhere in this document, the
proposed exemption and amendments
do not significantly change the
substance or frequency of the
recordkeeping, disclosure, or reporting
requirements. Thus, the amendments
will not have a ‘‘significant economic
impact on a substantial number of small
entities.’’ 5 U.S.C. 605. The Commission
has concluded, therefore, that a
regulatory flexibility analysis is not
necessary, and certifies, under Section
605 of the Regulatory Flexibility Act (5
U.S.C. 605(b)), that the amendments
announced today will not have a
significant economic impact on a
substantial number of small entities.
Rule Language
List of Subjects in 16 CFR Part 305
Advertising, Energy conservation,
Household appliances, Labeling,
Reporting and recordkeeping
requirements.
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For the reasons set out above, the
Commission amends 16 CFR Part 305 as
follows:
PART 305—ENERGY AND WATER USE
LABELING FOR CONSUMER
PRODUCTS UNDER THE ENERGY
POLICY AND CONSERVATION ACT
(ENERGY LABELING RULE)
1. The authority citation for part 305
continues to read as follows:
■
Authority: 42 U.S.C. 6294.
2. In § 305.7, revise paragraph (g) to
read as follows:
■
§ 305.7
Determinations of capacity.
*
*
*
*
*
(g) Clothes washers. The capacity
shall be the tub capacity as determined
according to Department of Energy test
procedures in 10 CFR Part 430, subpart
B, in the terms ‘‘standard’’ or ‘‘compact’’
as defined in appendix J1 to 10 CFR Part
430. For models manufactured after
March 7, 2015, the capacity shall be the
tub capacity as determined according to
Department of Energy test procedures in
10 CFR Part 430, subpart B, expressed
in terms of ‘‘Capacity (tub volume)’’ in
cubic feet, rounded to the nearest onetenth of a cubic foot, and the capacity
class designations ‘‘standard’’ or
‘‘compact.’’
*
*
*
*
*
■ 3. In § 305.10, revise paragraphs (a)
and (b) to read as follows:
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§ 305.10 Ranges of comparability on the
required labels.
(a) Range of estimated annual energy
costs or energy efficiency ratings. The
range of estimated annual operating
costs or energy efficiency ratings for
each covered product (except
fluorescent lamp ballasts, metal halide
lamp fixtures, lamps, showerheads,
faucets, water closets, urinals, ceiling
fans, or televisions) shall be taken from
the appropriate appendix to this part in
effect at the time the labels are affixed
to the product. The Commission shall
publish revised ranges in the Federal
Register in 2017. When the ranges are
revised, all information disseminated
after 90 days following the publication
of the revision shall conform to the
revised ranges. Products that have been
labeled prior to the effective date of a
modification under this section need
not be relabeled.
(b) Representative average unit energy
cost. The Representative Average Unit
Energy Cost figures to be used on labels
as required by § 305.11 are listed in
appendix K to this part, except the
electricity and gas cost to be used on
labels for refrigerators, refrigerator-
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freezers, and freezers distributed before
September 15, 2014, and labels for
clothes washers distributed before
March 7, 2015, shall be 10.65 cents per
kWh and 1.218 dollars per therm. The
Commission shall publish revised
Representative Average Unit Energy
Cost figures in the Federal Register in
2017. When the cost figures are revised,
all information disseminated after 90
days following the publication of the
revision shall conform to the new cost
figure.
*
*
*
*
*
■ 4. In § 305.11, revise paragraphs (f)(5)
through (9) and redesignate paragraphs
(f)(11) and (12) as paragraphs (f)(10) and
(11) respectively.
The revisions read as follows:
§ 305.11 Labeling for refrigerators,
refrigerator-freezers, freezers, dishwashers,
clothes washers, water heaters, room air
conditioners, and pool heaters.
*
*
*
*
*
(f) * * *
(5) Unless otherwise indicated in this
paragraph, estimated annual operating
costs for refrigerators, refrigeratorfreezers, freezers, clothes washers,
dishwashers, room air conditioners, and
water heaters are as determined in
accordance with §§ 305.5 and 305.10 of
this part. Thermal efficiencies for pool
heaters are as determined in accordance
with § 305.5. Labels for clothes washers
and dishwashers must disclose
estimated annual operating cost for both
electricity and natural gas as illustrated
in the sample labels in appendix L. For
refrigerators, refrigerator freezers, and
freezers manufactured before September
15, 2014, and clothes washers
manufactured before March 7, 2015,
annual operating costs shall be
determined using the energy cost figures
of 10.65 cents for electricity and $1.218
for natural gas.
(6) Unless otherwise indicated in this
paragraph, ranges of comparability for
estimated annual operating costs or
thermal efficiencies, as applicable, are
found in the appropriate appendices
accompanying this part. For
refrigerators, refrigerator-freezers, and
freezers manufactured on or after
September 15, 2014, and clothes
washers manufactured on or after March
7, 2015, the range information shall
match the text and graphics in sample
labels 1A and 2A of Appendix L.
(7) Placement of the labeled product
on the scale shall be proportionate to
the lowest and highest estimated annual
operating costs or thermal efficiencies,
as applicable.
(8) Labels for refrigerators,
refrigerator-freezers, freezers,
dishwashers, clothes washers, and water
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heaters must contain the model’s
estimated annual energy consumption
as determined in accordance with
§ 305.5 and as indicated on the sample
labels in appendix L. Labels for room air
conditioners and pool heaters must
contain the model’s energy efficiency
rating or thermal efficiency, as
applicable, as determined in accordance
with § 305.5 and as indicated on the
sample labels in appendix L.
(9) Labels must contain a statement as
illustrated in the prototype labels in
appendix L and specified as follows by
product type:
(i) For refrigerators, refrigeratorfreezers, and freezers, the statement will
read as follows (fill in the blanks with
the appropriate year and energy cost
figures):
Your costs will depend on your utility
rates and use.
[Insert statement required by
§ 305.11(f)(9)(iii)].
Estimated energy cost is based on a
national average electricity cost of __
cents per kWh.
For more information, visit
www.ftc.gov/energy.
(ii) For refrigerators, refrigeratorfreezers, and freezers manufactured on
or after September 15, 2014 and clothes
washers manufactured after March 7,
2015, the label shall contain the text and
graphics illustrated in sample labels 1A
and 2A of Appendix L, including the
statement:
Compare ONLY to other labels with
yellow numbers.
Labels with yellow numbers are based
on the same test procedures.
(iii) For refrigerators, refrigeratorfreezers, and freezers, the following
sentence shall be included as part of the
statement required by § 305.11(f)(9)(i):
(A) For models covered under
appendix A1, the sentence shall read:
Cost range based only on models of
similar capacity with automatic defrost.
(B) For models covered under
appendix A2, the sentence shall read:
Cost range based only on models of
similar capacity with manual defrost.
(C) For models covered under
appendix A3, the sentence shall read:
Cost range based only on models of
similar capacity with partial automatic
defrost.
(D) For models covered under
appendix A4, the sentence shall read:
Cost range based only on models of
similar capacity with automatic defrost,
top-mounted freezer, and without
through-the-door ice.
(E) For models covered under
appendix A5, the sentence shall read:
Cost range based only on models of
similar capacity with automatic defrost,
side-mounted freezer, and without
through-the-door ice.
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(F) For models covered under
appendix A6, the sentence shall read:
Cost range based only on models of
similar capacity with automatic defrost,
bottom-mounted freezer, and without
through-the-door ice.
(G) For models covered under
appendix A7, the sentence shall read:
Cost range based only on models of
similar capacity with automatic defrost,
top-mounted freezer, and through-thedoor ice.
(H) For models covered under
appendix A8, the sentence shall read:
Cost range based only on models of
similar capacity with automatic defrost,
side-mounted freezer, and through-thedoor ice.
(I) For models covered under
appendix B1, the sentence shall read:
Cost range based only on upright
freezer models of similar capacity with
manual defrost.
(J) For models covered under
appendix B2, the sentence shall read:
Cost range based only on upright
freezer models of similar capacity with
automatic defrost.
(K) For models covered under
appendix B3, the sentence shall read:
Cost range based only on chest and
other freezer models of similar capacity.
(iv) For room air conditioners covered
under appendix E, the statement will
read as follows (fill in the blanks with
the appropriate model type, year, energy
type, and energy cost figure):
Your costs will depend on your utility
rates and use.
Cost range based only on models [of
similar capacity without reverse cycle
and with louvered sides; of similar
capacity without reverse cycle and
without louvered sides; with reverse
cycle and with louvered sides; or with
reverse cycle and without louvered
sides].
Estimated annual energy cost is based
on a national average electricity cost of
__ cents per kWh and a seasonal use of
8 hours use per day over a 3 month
period.
For more information, visit
www.ftc.gov/energy.
(v) For water heaters covered by
Appendices D1, D2, and D3, the
statement will read as follows (fill in the
blanks with the appropriate fuel type,
year, and energy cost figures):
Your costs will depend on your utility
rates and use.
Cost range based only on models of
similar capacity fueled by [natural gas,
oil, propane, or electricity].
Estimated energy cost is based on a
national average [electricity, natural gas,
propane, or oil] cost of [__ cents per
kWh or $__ per therm or gallon].
For more information, visit
www.ftc.gov/energy.
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(vi) For instantaneous water heaters
(appendix D4) and heat pump water
heaters (appendix D5), the statement
will read as follows (fill in the blanks
with the appropriate model type, the
operating cost, the year, and the energy
cost figures):
Your costs will depend on your utility
rates and use.
Cost range based only on
[instantaneous gas water heater or heat
pump water heater] models of similar
capacity. Estimated energy cost is based
on a national average [electricity,
natural gas, or propane] cost of [__ cents
per kWh or $__ per therm or gallon].
For more information, visit
www.ftc.gov/energy.
(vii) For dishwashers covered by
appendices C1 and C2, the statement
will read as follows (fill in the blanks
with the appropriate appliance type, the
energy cost, the number of loads per
week, the year, and the energy cost
figures):
Your costs will depend on your utility
rates and use.
Cost range based only on [compact/
standard] capacity models.
Estimated energy cost is based on 4
washloads a week, and a national
average electricity cost of __ cents per
kWh and natural gas cost of $__ per
therm.
For more information, visit
www.ftc.gov/energy.
(viii) For clothes washers
manufactured before March 7, 2015
covered by appendices F1 and F2, the
statement will read as follows (fill in the
blanks with the appropriate appliance
type, the energy cost, the number of
loads per week, the year, and the energy
cost figures):
Your costs will depend on your utility
rates and use.
Cost range based only on [compact/
standard] capacity models.
Estimated energy cost is based on 8
washloads a week and a national
average electricity cost of ll cents per
kWh and natural gas cost of $ll per
therm.
For more information, visit
www.ftc.gov/energy.
(ix) For clothes washers manufactured
after March 7, 2015, the label shall
contain the text and graphics illustrated
in sample labels 1A and 2A of
Appendix L, including the statement:
Compare ONLY to other labels with
yellow numbers.
Labels with yellow numbers are based
on the same test procedures.
(x) For pool heaters covered under
appendices J1 and J2, the statement will
read as follows:
Efficiency range based only on models
fueled by [natural gas or oil].
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For more information, visit
www.ftc.gov/energy.
*
*
*
*
*
■ 5. In § 305.12, revise paragraphs
(i)(11)(iii), (i)(12)(iii), and (i)(13) to read
as follows:
§ 305.12 Labeling for central air
conditioners, heat pumps, and furnaces.
*
*
*
*
*
(i) * * *
(11) * * *
(iii) For single-package air
conditioners, a statement that reads:
Energy Efficiency Ratio (EER): This
model’s EER is [ __].
(12) * * *
(iii) For split-system air conditioner
systems, a statement that reads:
Energy Efficiency Ratio (EER): could
range from [__] to [__], depending on the
coil installed with this unit.
(13) For any single-package air
conditioner with an EER below 11.0, the
label must contain the following
regional standards information
consistent with sample label 7B in
appendix L to this part:
(i) A statement that reads:
Notice Federal law allows this unit to
be installed only in: AK, AL, AR, CO,
CT, DC, DE, FL, GA, HI, ID, IL, IA, IN,
KS, KY, LA, MA, ME, MD, MI, MN, MO,
MS, MT, NC, ND, NE, NH, NJ, NY, OH,
OK, OR, PA, RI, SC, SD, TN, TX, UT,
VA, VT, WA, WV, WI, WY and U.S.
territories.
Federal law prohibits installation of
this unit in other states.
(ii) A map and accompanying text as
illustrated in the sample label in
appendix L.
(iii) A statement that reads:
Energy Efficiency Ratio (EER): This
model’s EER is [__].
*
*
*
*
*
■ 6. In § 305.17, revise paragraphs (a),
(b), (f)(6), and (f)(8)(ii) to read as
follows:
§ 305.17
Television labeling.
(a) Layout. All energy labels for
televisions shall use one of three shapes:
a vertical rectangle, a horizontal
rectangle, and a triangle as detailed in
Prototype Labels in appendix L. All
label size, positioning, spacing, type
sizes, positioning of headline, copy, and
line widths must be consistent with the
prototype and sample labels in
appendix L. The minimum label size for
the vertical rectangle label is 1.5″×5.5″.
The minimum size for the horizontal
rectangle label is 1.5″×5.23″. The
minimum size for the triangle label is
4.5″×4.5″ (right angle sides).
(b) Type style and setting. The Arial
series typeface or equivalent shall be
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used exclusively on the label. Prototype
Labels in appendix L contain specific
directions for type style and setting and
indicate the specific sizes, leading,
faces, positioning, and spacing to be
used. No hyphenations should be used
in setting headline or copy text.
*
*
*
*
*
(f) * * *
(6) Placement of the labeled product
on the scale proportionate to the lowest
and highest estimated annual energy
costs as illustrated in Prototype and
Sample Labels in appendix L. When the
estimated annual energy cost of a given
television model falls outside the limits
of the current range for that product, the
manufacturer shall place the product at
the end of the range closest to the
model’s energy cost.
*
*
*
*
*
(8) * * *
(ii) The manufacturer may include the
ENERGY STAR logo on the label as
illustrated in Sample Labels in
appendix L. The logo must be 0.375″
wide. Only manufacturers that have
signed a Memorandum of
Understanding with the Department of
Energy or the Environmental Protection
Agency covering the televisions to be
labeled may add the ENERGY STAR
logo to those labels.
*
*
*
*
*
§ 305.20
[Amended]
43983
9. Appendix C2 to Part 305 is revised
to read as follows:
■
7. Amend § 305.20 as follows:
A. In paragraph (a)(5), remove the
phrase ‘‘For more information, visit
www.ftc.gov/energy.’’ and add in its
place ‘‘For more information, visit
productinfo.energy.gov.’’
B. In paragraph (g)(1), remove the
phrase ‘‘Sample Icon 13’’ and add in its
place ‘‘the sample icon’’.
■ 8. Appendix C1 to Part 305 is revised
to read as follows:
■
Appendix C2 to Part 305—Standard
Dishwashers
Range Information
‘‘Standard’’ includes dishwasher
models with a capacity of eight (8) or
more place settings. Place settings shall
be in accordance with appendix C to 10
CFR part 430, subpart B. Load patterns
shall conform to the operating normal
for the model being tested.
Appendix C1 to Part 305—Compact
Dishwashers
Range Information
Capacity
‘‘Compact’’ includes countertop
dishwasher models with a capacity of
fewer than eight (8) place settings. Place
settings shall be in accordance with
appendix C to 10 CFR part 430, subpart
B. Load patterns shall conform to the
operating normal for the model being
tested.
Range of estimated
annual energy costs
(dollars/year)
Low
Standard ...........
High
$21
$41
10. Appendices D1 through D5 to Part
305 are revised to read as follows:
■
Appendix D1 to Part 305—Water
Heaters—Gas
Range of estimated
annual energy costs
(dollars/year)
Capacity
Low
Compact ...........
High
$18
$27
RANGE INFORMATION
Capacity
Range of estimated annual energy costs
(dollars/year)
Natural gas ($/year)
Less than 21 ....................................................................................................................
21 to 24 ............................................................................................................................
25 to 29 ............................................................................................................................
30 to 34 ............................................................................................................................
35 to 40 ............................................................................................................................
41 to 47 ............................................................................................................................
48 to 55 ............................................................................................................................
56 to 64 ............................................................................................................................
65 to 74 ............................................................................................................................
75 to 86 ............................................................................................................................
87 to 99 ............................................................................................................................
100 to 114 ........................................................................................................................
115 to 131 ........................................................................................................................
Over 131 ..........................................................................................................................
Propane ($/year)
Low
First hour rating
Low
*
*
*
*
*
*
$253
257
228
228
228
228
228
235
High
*
*
*
*
*
*
$271
271
275
275
275
302
332
332
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* No data submitted.
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*
*
*
*
*
*
$628
637
565
565
565
565
590
582
High
*
*
*
*
*
*
$673
670
696
682
746
746
824
824
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Appendix D2 to Part 305—Water
Heaters—Electric
Capacity
Range of estimated
annual energy
(dollars/year)
RANGE INFORMATION
Capacity
Low
100 to 114 ........
115 to 131 ........
Over 131 ...........
First hour rating
Less than 21 .....
21 to 24 ............
25 to 29 ............
30 to 34 ............
35 to 40 ............
41 to 47 ............
48 to 55 ............
56 to 64 ............
65 to 74 ............
75 to 86 ............
87 to 99 ............
High
$567
*
567
567
560
554
554
554
554
554
567
RANGE INFORMATION
First hour rating
Range of estimated
annual energy
(dollars/year)
Low
Appendix D3 to Part 305—Water
Heaters—Oil
RANGE INFORMATION—Continued
$567
*
567
573
573
599
599
586
599
613
620
Capacity
High
579
613
*
651
635
*
First hour rating
Low
Less than 65 .....
65 to 74 ............
75 to 86 ............
87 to 99 ............
100 to 114 ........
115 to 131 ........
Over 131 ...........
* No data submitted.
Range of estimated
annual energy costs
(dollars/year)
High
*
*
*
*
$684
760
604
*
*
*
*
$760
804
746
* No data submitted.
Appendix D4 to Part 305—Water
Heaters—Instantaneous—Gas
RANGE INFORMATION
Capacity
Range of estimated annual energy costs
(dollars/year)
Natural Gas ($/year)
Propane ($/year)
Low
Capacity (maximum flow rate); gallons per minute (gpm)
Low
Under 1.00 .......................................................................................................................
1.00 to 2.00 ......................................................................................................................
2.01 to 3.00 ......................................................................................................................
Over 3.00 .........................................................................................................................
High
*
*
$192
170
*
*
$237
204
High
*
*
$465
408
*
*
$574
494
* No data submitted.
Appendix D5 to Part 305—Water
Heaters—Heat Pump
Appendix E to Part 305—Room Air
Conditioners
Range of estimated
annual energy costs
(dollars/year)
Manufacturer’s
rated cooling capacity in Btu’s/hr
First hour rating
Low
Less than 21 .....
21 to 24 ............
25 to 29 ............
30 to 34 ............
35 to 40 ............
41 to 47 ............
48 to 55 ............
56 to 64 ............
65 to 74 ............
75 to 86 ............
87 to 99 ............
100 to 114 ........
115 to 131 ........
Over 131 ...........
*
*
*
*
*
$268
*
224
220
226
*
*
*
*
*
*
*
*
*
$268
*
275
264
226
*
*
*
*
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11. Appendix E to Part 305 is revised
to read as follows:
■
16:50 Jul 22, 2013
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Range of estimated
annual energy costs
(dollars/year)
Low
High
* No data submitted.
VerDate Mar<15>2010
Manufacturer’s
rated cooling capacity in Btu’s/hr
RANGE INFORMATION
RANGE INFORMATION
Capacity
RANGE INFORMATION—Continued
Without Reverse
Cycle and with
Louvered
Sides:
Less than
6,000 Btu
6,000 to
7,999 Btu
8,000 to
13,999
Btu ..........
14,000 to
19,999
Btu ..........
20,000 and
more Btu
Without Reverse
Cycle and
without
Louvered
Sides:
Less than
6,000 Btu
6,000 to
7,999 Btu
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Range of estimated
annual energy costs
(dollars/year)
Low
High
$42
$48
50
72
66
115
117
195
169
8,000 to
13,999
Btu ..........
14,000 to
19,999
Btu ..........
20,000 and
more Btu
With Reverse
Cycle and with
Louvered
Sides .............
With Reverse
Cycle, without
Louvered
Sides .............
High
73
138
140
166
*
*
71
225
89
126
382
* No data submitted.
12. Appendices J1 and J2 are revised
to read as follows:
■
Appendix J1 to Part 305—Pool
Heaters—Gas
*
*
56
72
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RANGE INFORMATION
Range of thermal efficiencies
(percent)
Manufacturer’s rated heating capacity
Natural gas
Propane
Low
Appendix J2 to Part 305—Pool
Heaters—Oil
95.0
82.0
95.0
13. Appendix K to Part 305 is revised
to read as follows:
Range of
thermal efficiencies
(percent)
Low
All capacities ...........................
High
■
RANGE INFORMATION
Manufacturer’s rated heating
capacity
Low
82.0
All capacities ....................................................................................................................
High
High
* ......
*
* No data submitted.
otherwise indicated by the Commission,
this table will be revised in 2017.
Appendix K to Part 305—
Representative Average Unit Energy
Costs
This Table contains the representative
unit energy costs that must be utilized
to calculate estimated annual energy
cost disclosures required under sections
305.11 and 305.20. This Table is based
on information published by the U.S.
Department of Energy in 2013. Unless
UNIT COSTS OF ENERGY FOR USE ON ENERGYGUIDE LABELS REQUIRED BY SECTION 305.11
Type of energy
In commonly used terms
(used for EnergyGuide label)
As required by DOE test procedure
Electricity ...................................................
Natural Gas ...............................................
12.00¢/kWh 2, 3 ..........................................
$1.09/therm 4 .............................................
$11.12/MCF 5, 6.
$3.80/gallon 7 ............................................
$2.41/gallon 8 ............................................
$4.21/gallon 9 ............................................
$.12/kWh ...................................................
0.0000109/Btu ...........................................
$35.46
10.87
0.00002740/Btu .........................................
0.00002639/Btu .........................................
0.00003119/Btu .........................................
27.40
26.39
31.19
No. 2 heating oil ........................................
Propane .....................................................
Kerosene ...................................................
1 Btu
stands for British thermal unit.
stands for kiloWatt hour.
3 1 kWh = 3,412 Btu.
4 1 therm = 100,000 Btu. Natural gas prices include taxes.
5 MCF stands for 1,000 cubic feet.
6 For the purposes of this table, 1 cubic foot of natural gas has an energy equivalence of 1,023 Btu.
7 For the purposes of this table, 1 gallon of No. 2 heating oil has an energy equivalence of 138,690 Btu.
8 For the purposes of this table, 1 gallon of liquid propane has an energy equivalence of 91,333 Btu.
9 For the purposes of this table, 1 gallon of kerosene has an energy equivalence of 135,000 Btu.
2 kWh
14. In Appendix L, revise Prototype
Labels 1, 2, and 3, and revise all Sample
Labels to read as follows:
■
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By direction of the Commission.
Donald S. Clark,
Secretary.
[FR Doc. 2013–17553 Filed 7–22–13; 8:45 am]
BILLING CODE 6750–01–C
DEPARTMENT OF HOMELAND
SECURITY
Coast Guard
33 CFR Part 165
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[Docket No. USCG–2013–0260]
RIN 1625–AA00
Safety Zone; Bullhead City Regatta;
Bullhead City, AZ
Coast Guard, DHS.
Temporary final rule.
AGENCY:
ACTION:
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The Coast Guard is
establishing a temporary safety zone on
the navigable waters of the Colorado
River in Bullhead City, Arizona for the
Bullhead City Regatta on August 10,
2013. This temporary safety zone is
necessary to provide for the safety of the
participants, crew, spectators,
participating vessels, and other vessels
and users of the waterway. Persons and
vessels are prohibited from entering
into, transiting through or anchoring
within this safety zone unless
authorized by the Captain of the Port or
his designated representative.
DATES: This rule is effective from 6 a.m.
to 6 p.m. on August 10, 2013.
ADDRESSES: Documents mentioned in
this preamble are part of docket [USCG–
2013–0260]. To view documents
mentioned in this preamble as being
available in the docket, go to https://
www.regulations.gov, type the docket
SUMMARY:
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number in the ‘‘SEARCH’’ box and click
‘‘SEARCH.’’ Click on Open Docket
Folder on the line associated with this
rulemaking. You may also visit the
Docket Management Facility in Room
W12–140 on the ground floor of the
Department of Transportation West
Building, 1200 New Jersey Avenue SE.,
Washington, DC 20590, between 9 a.m.
and 5 p.m., Monday through Friday,
except Federal holidays.
FOR FURTHER INFORMATION CONTACT: If
you have questions on this rule, call or
email Lieutenant John Bannon,
Waterways Management, U.S. Coast
Guard Sector San Diego; telephone (619)
278–7656, email
d11marineeventssd@uscg.mil. If you
have questions on viewing or submitting
material to the docket, call Barbara
Hairston, Program Manager, Docket
Operations, telephone (202) 366–9826.
SUPPLEMENTARY INFORMATION:
E:\FR\FM\23JYR1.SGM
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Federal Register / Vol. 78, No. 141 / Tuesday, July 23, 2013 / Rules and Regulations
Agencies
[Federal Register Volume 78, Number 141 (Tuesday, July 23, 2013)]
[Rules and Regulations]
[Pages 43974-44011]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2013-17553]
=======================================================================
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FEDERAL TRADE COMMISSION
16 CFR Part 305
[3084-AB15]
Energy and Water Use Labeling for Consumer Products Under the
Energy Policy and Conservation Act (Energy Labeling Rule)
AGENCY: Federal Trade Commission (``FTC'' or ``Commission'').
ACTION: Final rule.
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SUMMARY: The Commission amends the Energy Labeling Rule (``Rule'') by
updating comparability ranges and unit energy costs for many
EnergyGuide labels. The Commission also issues a conditional exemption
and amendments for modified refrigerator and clothes washer labels to
help consumers compare the labels for these products after the
implementation of upcoming changes to the Department of Energy
(``DOE'') test procedures.
DATES: The amendments published in this document will become effective
on November 15, 2013.
ADDRESSES: Requests for copies of this document should be sent to:
Public Reference Branch, Room 130, Federal Trade Commission, 600
Pennsylvania Avenue NW., Washington, DC 20580. The complete record of
this proceeding is also available at that address. Relevant portions of
the proceeding, including this document, are available at https://www.ftc.gov.
FOR FURTHER INFORMATION CONTACT: Hampton Newsome, (202) 326-2889,
Attorney, Division of Enforcement, Bureau of Consumer Protection,
Federal Trade Commission, 600 Pennsylvania Avenue NW., Washington, DC
20580.
SUPPLEMENTARY INFORMATION:
I. Background
The Commission issued the Energy Labeling Rule (``Rule'') in
1979,\1\ pursuant to the Energy Policy and Conservation Act of 1975
(EPCA).\2\ The Rule requires energy labeling for major home appliances
and other consumer products, to help consumers compare competing
models. When first published, the Rule applied to eight categories:
Refrigerators, refrigerator-freezers, freezers, dishwashers, water
heaters, clothes washers, room air conditioners, and furnaces. The
Commission subsequently expanded the Rule's coverage to include central
air conditioners, heat pumps, plumbing products, lighting products,
ceiling fans, and televisions. The Commission is currently conducting a
regulatory review of the Rule.\3\
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\1\ 44 FR 66466 (Nov. 19, 1979) (Rule's initial promulgation).
\2\ 42 U.S.C. 6294. EPCA also requires the DOE to develop test
procedures that measure how much energy appliances use, and to
determine the representative average cost a consumer pays for
different types of energy.
\3\ 77 FR 15298 (Mar. 15, 2012) (regulatory review). The
Commission currently has another open proceeding related to light
bulb coverage. See 76 FR 45715 (Aug. 1, 2011) (proposed expanded
light bulb coverage).
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The Rule requires manufacturers to attach yellow EnergyGuide labels
for many of the covered products, and prohibits retailers from removing
the labels or rendering them illegible. In addition, the Rule directs
sellers, including retailers, to post label information on Web sites
and in paper catalogs from which consumers can order products.
EnergyGuide labels for covered products contain three key disclosures:
Estimated annual energy cost (for most products); a product's energy
consumption or energy efficiency rating as determined from DOE test
procedures; and a comparability range displaying the highest and lowest
energy costs or efficiency ratings for all similar models. For energy
cost calculations, the Rule specifies national average costs for
applicable energy sources (e.g., electricity, natural gas, oil) as
calculated by DOE. The Rule sets a five-year schedule for updating
comparability range and annual energy cost information.\4\ The
Commission updates the range information based on manufacturer data
submitted pursuant to the Rule's reporting requirements.
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\4\ 16 CFR 305.10.
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II. Notice of Proposed Rulemaking
In a Notice of Proposed Rulemaking (NPRM) announced December 31,
2012,\5\ the Commission, consistent with its five-year schedule,
proposed to update the comparability ranges (Appendices A-J to Part
305) and national average energy costs (Appendix K to Part 305) for
many EnergyGuide labels. The NPRM also contained several minor,
proposed revisions and updates to the label's content, some suggested
by commenters as part of the ongoing regulatory review. Finally, the
Commission proposed to grant a request from the Association of Home
Appliance Manufacturers (AHAM) for an exemption related to labeling
requirements for refrigerators, refrigerator-freezers, and freezers
(hereinafter referred to as ``refrigerators''), and clothes washers to
address recent DOE test procedures.
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\5\ See https://www.ftc.gov/opa/2012/12/energylabel.shtm. 78 FR
1779 (Jan. 9, 2013).
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In response to the NPRM, the Commission received 10 comments from
organizations and individuals as well as 2,915 nearly identical letters
from individual consumers as part of a mass mailing.\6\ As discussed in
detail below, the comments generally supported the Commission's
proposals.
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\6\ See https://ftc.gov/os/comments/energylabelrangers/index.shtm. The organizational comments included: Alliance Laundry
Systems LLC ( 563707-00002 and 563707-00012),
Association of Home Appliance Manufacturers (AHAM) (563707-
00003 and 563707-00013), Air-Conditioning, Heating, and
Refrigeration Institute (AHRI) (563707-00004 and
563707-00010), joint comments from several energy,
environmental and consumer organizations (including Alliance to Save
Energy, Appliance Standards Awareness Project, Consumer Federation
of America, Consumers Union, Earthjustice, Natural Resources Defense
Council, Public Citizen, and the Sierra Club) (``Joint Commenters'')
(563707-00005 and 563707-00011), and the
California Independently Owned Utilities Codes & Standards Team (CA
IOU) (563707-00009), VanBrocklin (563707-00008),
and individual consumer letters (2,915 letters from individual
consumers) (563707-00006). All the consumer letters, which
were gathered and submitted by Earthjustice, addressed the issue of
label categories for refrigerator configurations.
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The Commission now publishes final amendments on these issues, with
some minor changes detailed below.\7\ Although the present amendments,
along with an earlier final rule notice published on January 10, 2013
(78 FR 2200), address several issues raised during the regulatory
review, the Commission plans to consider additional issues in a future
notice.\8\
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\7\ The amendments also contain several corrections to the
numbering for the Rule's sample labels (section 305.17 and Appendix
L), the list of states and capacity references on heating and
cooling equipment labels in Appendix L, references to heating and
cooling products in 305.12, and a Web site address in 305.20.
\8\ 77 FR 15298.
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A. Comparability Range and Energy Cost Revisions
Background: The NPRM contained proposed revisions to the
comparability range and energy cost information for many products
bearing EnergyGuide labels.\9\ In addition, the Commission proposed to
update the average energy cost (e.g., 12 cents per kWh) manufacturers
must use to calculate a model's estimated energy cost for the label
based on updated national
[[Page 43975]]
averages published by DOE.\10\ To effect these changes, the NPRM
proposed amendments to the applicable tables in the Rule's appendices.
The Commission proposed to require manufacturers to begin using this
new information within 90 days after publication of a final notice.
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\9\ 16 CFR 305.10. In addition to revising existing
comparability ranges, the Commission proposed to include a new range
for instantaneous electric water heaters based on data submitted by
industry.
\10\ 77 FR 29940 (Apr. 26, 2012) (DOE notice for
``Representative Average Unit Costs of Energy'').
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The Commission did not propose to alter range and cost information
for EnergyGuide labels for four product categories (refrigerators,
clothes washers, furnaces and central air conditioners, and
televisions) given upcoming DOE regulatory changes applicable to those
products.\11\ Instead, it proposed to wait and synchronize changes with
the impending DOE regulations. By doing so, the Commission sought to
avoid several label changes in a short time period, which could confuse
consumers and burden manufacturers.
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\11\ For refrigerators and clothes washers, as discussed below,
the Commission will update range and cost information after the
upcoming implementation of revised DOE standards and test
procedures, which will significantly change energy use data for
those products. See infra. Similarly, the Commission has addressed
range updates for furnace and central air conditioner labels in a
separate proceeding. 78 FR 8362 (Feb. 6, 2013) (regional standards
labels). Finally, for televisions, the Commission will issue
revisions to the television ranges in 16 CFR 305.17 after DOE adopts
a test procedure. 77 FR 2830 (Jan. 19, 2012) (proposed DOE test
procedure). The Commission will also establish an annual reporting
schedule for television manufacturers at that time. Since EPCA
requires annual reporting based on DOE test procedures and no DOE
television test procedure currently exists, the Rule currently
contains no reporting requirements. See 42 U.S.C. 6296(b)(4) (FTC
annual reporting requirements tied to DOE test procedure); 16 CFR
305.8 (FTC reporting requirements). In addition, these amendments do
not affect recently revised labeling requirements for lighting
products. 75 FR 41696 (July 19, 2010). The Rule has separate
provisions in section 305.15 for energy cost disclosures on lighting
products, which are not included in the update schedule for products
labeled with the EnergyGuide under section 305.11.
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Comments: Comments (e.g., AHAM, AHRI, and Alliance Laundry Systems)
generally supported the proposal to update the label ranges. However,
the Joint Commenters, who argued generally for more frequent range and
cost updates, criticized the timing of the new range updates, including
the proposed delay for refrigerator and clothes washer ranges pending
upcoming DOE standards and test procedure changes. In addition, AHRI
and AHAM offered several small corrections and suggestions. First, AHRI
submitted corrected data for the range numbers for its members, fixing
its inadvertent errors in its earlier submission. AHRI also explained
that the ranges should not include information for instantaneous
electric water heaters because no DOE test procedure exists for these
products and the labeling requirements have never applied to them. In
addition, AHRI recommended revisions for the gas pool heater ranges to
reflect a revised minimum efficiency standard (82% thermal efficiency),
which goes into effect on April 16, 2013. Lastly, AHAM suggested a 180-
day compliance period for the new ranges, instead of the proposed 90-
day period. AHAM reasoned that additional time will facilitate
compliance and reduce the waste of discarding previously printed
labels.
Discussion: The Commission issues the final ranges as proposed,
using the updated data provided by AHRI and implementing the following
four, minor changes.\12\ First, the final ranges do not contain numbers
for instantaneous electric water heaters because these products are not
currently subject to DOE test procedures. If DOE finalizes testing and
certification requirements for these products in the future, the
Commission will consider conforming amendments. Second, the Commission
amends the ranges for gas pool heaters to reflect DOE standards that go
into effect on April 16, 2013. Third, the Commission updates the
average energy costs for certain product labels based on recently
published DOE 2013 data.\13\ In addition, the amendments maintain the
proposed 90-day compliance period consistent with the Rule's current
provision for such changes (16 CFR 305.10). The Commission has
consistently applied this interval in the past with no apparent, undue
burden and does not wish to delay the range updates further.
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\12\ To aid manufacturers in transitioning to the new ranges,
FTC staff plans to provide sample label template files on its Web
site. See https://business.ftc.gov/documents/energyguide-labels-template.
\13\ 78 FR 17648 (Mar. 22, 2013). The relevant DOE 2013 energy
costs for labeling include 12.01 cents for electricity (rounded to
12 cents for the purposes of the FTC label); $1.087 per therm for
natural gas (rounded to $1.09 per therm); $3.80 per gallon for oil;
and $2.41 per gallon for propane.
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Finally, the Commission has sought to synchronize the new range and
cost updates with other ongoing regulatory changes to avoid multiple
label changes in a short time period. For example, the Commission has
coupled new ranges for dishwashers, room air conditioners, and water
heaters in this Notice with several label content changes (discussed in
section II.B. of this Notice), which required an opportunity for
comment and thus additional time to promulgate.\14\ In addition, as
discussed in section III, the Commission plans to issue new ranges for
refrigerators and clothes washers when the new DOE standards and test
procedures become effective. The Commission, therefore, is not updating
ranges for those products because such revised ranges would be short-
lived and based on many models that are likely to become obsolete with
the arrival of the new DOE standards.\15\
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\14\ In the past, the Commission has issued routine range
updates without seeking comments. See, e.g., 70 FR 60716 (Oct. 24,
2005).
\15\ 78 FR 8362 (Feb. 6, 2012). The Commission plans to address
the Joint Commenters' general concerns with the current range and
cost update schedule in a future notice as part of the overall
regulatory review.
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B. Proposed Revisions and Updates to Label Content
In addition to the proposed range and cost updates, the NPRM
proposed five minor label changes to simplify and improve the
disclosures. The Commission also sought comment on the possible
elimination of range information on television labels and increasing
the frequency of changes to range and cost information on all
EnergyGuide labels.
1. Label Content Changes
Background: Consistent with recently implemented FTC labeling
requirements for light bulb and television labels,\16\ the Commission
proposed to round the national average electricity (e.g., 12 cents per
kWh) and natural gas (e.g., $1.09 per therm) rates to the nearest cent
to calculate the label's estimated annual operating (energy) cost. In
the past, the Rule has expressed these figures as a fraction of a cent
(e.g., 11.85 cents per kWh). A cost figure rounded to whole cents
should be more familiar to consumers and not have any negative impact
on the label's utility because any differences in cost from such
rounding will be very small and apply to all models.\17\
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\16\ 75 FR 41696 (July 19, 2010) (light bulbs); 76 FR 1038 (Jan.
6, 2011) (televisions).
\17\ DOE's 2012 national average energy cost data lists
electricity at 11.84 cents/kWh. 77 FR 24940 (Apr. 26, 2012) (DOE
fuel cost update). Accordingly, the FTC proposal would require
manufacturers to use 12 cents/kWh in calculating energy cost for
affected labels. The 2013 DOE figure is 12.10 cents/kWh. Thus, the
final rule continues to use the rounded 12 cents/kWh.
---------------------------------------------------------------------------
Second, also consistent with the recent television and light bulb
labeling requirements, the NPRM proposed to further simplify the
label's cost disclosure by eliminating reference to the year of the
underlying energy cost rate (e.g., ``based on a 2007 national average
electricity cost of 10 cents per kWh'') (section 305.11(f)). Under the
[[Page 43976]]
current rule, this date remains on the label for five years. For
example, labels for a product introduced in 2011 state that the cost
figure derives from a 2007 national average. However, because energy
rates can increase or decrease from year to year, the benefit of
disclosing this detail on the label does not appear significant. More
importantly, this disclosure could cause confusion. For instance, the
``2007'' reference in the example above may incorrectly suggest to some
consumers that the product itself was produced in 2007. To avoid these
problems, the Commission proposed to eliminate the reference to the
year. The label would simply read ``based on a national average
electricity cost of . . . .''
Third, based on comments in the ongoing regulatory review for the
Rule, the Commission proposed to include a new disclosure on room air
conditioners (section 305.11(f)) explaining that the label's cost
estimate stems from an assumed 750 hours of operation per year.\18\
Similar estimates already appear on other labels (e.g., four loads per
week for dishwashers and five hours per day for televisions). This
change should help consumers gauge the product's estimated energy cost
in the context of their own use.
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\18\ Joint Comments from Energy-Efficiency and Consumer
Organizations (May 16, 2012) (560957-00015) available at
https://www.ftc.gov/os/comments/energylabelamend/00015-83010.pdf.
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Fourth, the Commission proposed amendments to replace the term
``operating cost'' with ``energy cost'' (section 305.11(f)). Some
consumers may understand the term ``operating cost'' to include factors
such as detergent supplies or the product's depreciation. The inclusion
of ``energy cost,'' which already appears on the labels for televisions
and light bulbs, should eliminate such problems. The term also appears
on new labels for televisions and light bulbs. Finally, the NPRM
contained a proposed conforming change to the Web site address on the
label, from www.ftc.gov/appliances to www.ftc.gov/energy.
Comments: The comments generally supported, or at least did not
oppose, these changes. For room air conditioners, however, the Joint
Commenters and CA IOU comments offered language different from that
proposed in the NPRM. The Joint Commenters argued that the language
should express usage on a weekly or monthly basis (e.g., ``8 hours of
use per day for 3 months'') instead of a yearly basis (i.e., ``750
hours per year''). In their view, the hours-per-year disclosure covers
``too large an amount and too long a time horizon'' to help consumers
determine their own costs. They also argued that it is inconsistent
with usage assumptions on other energy labels that provide weekly or
daily figures (e.g., four loads per week for dishwashers, eight loads
per week for clothes washers, five hours per day for televisions, and
three hours per day for light bulbs). CA IOU further suggested that the
room air conditioner label communicate usage through a table
illustrating estimated operating costs at various annual time-periods
(e.g., 750 hours per year) as well as electricity rates. Finally, AHAM
noted that, beginning June 1, 2014, DOE will require a new energy
efficiency metric called ``combined energy efficiency ratio (CEER)''
for room air conditioners.\19\ This metric will replace ``energy
efficiency ratio (EER)'' that currently appears on the label. The CEER
takes into account energy consumption in standby and off mode. Though
the new metric will lead to only small changes in annual energy
estimates for room air conditioners, AHAM recommended that the
Commission amend the label to replace EER with CEER.
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\19\ 77 FR 22454 (April 21, 2011).
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Discussion: The final amendments implement the five label content
changes as generally proposed. In response to the comments, the
Commission has modified the proposed room air conditioner disclosure to
communicate the daily usage hours for room air conditioners during a
single season rather than the total hours over the course of the year
(i.e., 750 hours per year). The Commission agrees that this disclosure
will make it easier for consumers to gauge the model's estimated energy
cost against their own use of the product. To simplify the disclosure
and avoid possible confusion, the final language states that the
estimated annual energy cost is based on ``a seasonal use of 8 hours
use per day over a 3 month period.'' Contrary to other suggestions,
however, the Commission has not included a table with multiple cost
estimates at different usage rates because it would significantly
complicate the label's message, likely discouraging consumer use.\20\
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\20\ Finally, the Commission notes AHAM's suggestion to change
EER to CEER on the room air conditioner label, consistent with
upcoming DOE changes, and will seek comments on such a modification
in a future notice.
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2. Television Range Information and Range Updates
In addition, the Commission sought comment on whether to retain
range information on television labels \21\ and whether to update range
and cost information more frequently than every five years. The
Commission will address these issues in a later notice as part of the
ongoing regulatory review for this Rule.
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\21\ 16 CFR 305.17(f).
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C. Proposed Conditional Exemption for Refrigerators and Clothes Washers
Background: In response to a request from the AHAM,\22\ the
Commission proposed a conditional exemption and rule amendments for
refrigerators and clothes washers. New DOE testing procedures for these
products, issued in conjunction with new efficiency standards, will
change the methods for calculating a model's energy use and, as a
result, trigger substantial changes to the energy information disclosed
on EnergyGuide labels. To aid consumers in their comparison-shopping
during the transition period, the Commission proposed a distinct label
for models tested under the new DOE procedures. To ease the burden
associated with the transition to the new test procedures, the
Commission also proposed to allow manufacturers to begin labeling new
models using the new DOE test procedures several months before the DOE
compliance dates.\23\
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\22\ AHAM comments (July 17, 2012) ( 560957-00023) at
https://www.ftc.gov/os/comments/energylabelamend/00023-83190.pdf and
(Sept. 11, 2012) (560957-00025) at https://www.ftc.gov/os/comments/energylabelamend/560957-00025-84112.pdf.
\23\ The Commission issued similar modifications in 2003 for
clothes washer labels in response to changes in the DOE test
procedure. 68 FR 23584 (May 5, 2003).
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The DOE regulatory changes necessitating these label revisions
become effective on September 15, 2014 for refrigerators and March 7,
2015 for clothes washers.\24\ The new, more stringent conservation
standards will render a substantial portion of existing refrigerator
and clothes washer models obsolete, and the updated test procedures
will yield substantially different results than the current ones.
According to AHAM, the new refrigerator test procedure will increase
the measured energy use of refrigerators by approximately 14%, though
the increase will vary among product classes, manufacturers, and
individual
[[Page 43977]]
models.\25\ In addition, the new clothes washer test procedure bases
annual energy use estimates on 295 cycles per year (approximately six
per week), instead of the current 392 cycles (approximately eight per
week), thus reducing stated energy costs on the EnergyGuide labels by
about 25%.\26\
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\24\ 76 FR 57516 (Sept. 15, 2011) (refrigerator standards); 77
FR 3559 (Jan. 25, 2012) (refrigerator test procedure); 77 FR 32308
(May 31, 2012) (clothes washer standards); 77 FR 13888 (Mar. 7,
2012) (clothes washer test procedure). DOE rules require compliance
with the new test procedures for all refrigerators by September 15,
2014 and for all clothes washers by March 7, 2015.
\25\ AHAM comments (May 16, 2012) (560957-0013) at
https://www.ftc.gov/os/comments/energylabelamend/00013-83038.pdf.
\26\ See 77 FR 13888, 13933 (Mar. 7, 2012) (DOE clothes washer
test procedure). The new DOE test procedure also includes the cost
of energy consumed in non-active wash modes.
---------------------------------------------------------------------------
After manufacturers begin to test their products using the new
procedures, showrooms and Web sites will contain some models tested
under the old procedure and others tested under the new one. This mix
of EnergyGuide labels could severely hamper product comparisons.
To help facilitate the transition to the new efficiency standards
and to aid shoppers who compare products during this period, AHAM
proposed two measures. First, it sought permission to use the new DOE
tests for labeling models introduced prior to DOE's compliance dates.
AHAM sought to begin using the new test procedures and transitional
labels for models introduced after January 1, 2014 for refrigerators,
and June 1, 2014 for clothes washers. Second, it recommended different,
transitional EnergyGuide labels for these models, to help consumers
distinguish products tested under the new procedure from those tested
under the old test regime. AHAM asked that the Commission require this
modified label for products tested under the new procedure until DOE
makes another substantial change to the test procedure for those
products.
In response, the Commission proposed to exempt manufacturers from
certain EnergyGuide testing and labeling requirements for refrigerator
and clothes washer models, subject to several conditions. Specifically,
the Commission proposed to grant a conditional exemption from the
Rule's requirement that, for purposes of the EnergyGuide label,
manufacturers use the estimated annual energy consumption derived from
the test procedures presently required by DOE.\27\ The Commission
proposed to grant this exception only to the extent necessary to allow
manufacturers \28\ to use the new test procedures on refrigerator
(including refrigerators, refrigerator-freezers, and freezers) and
clothes washer models manufactured after January 1, 2014 (for
refrigerators) and June 1, 2014 (for clothes washers). The Commission
also proposed several conditions for the exemption, including the
version of the DOE test that must be used, label disclosures about
ranges, electricity rates, usage assumptions, and a special disclosure
on the label reading: ``Compare to other labels with yellow numbers.
Appliances that have labels with black numbers were tested differently
to estimate cost and electricity used.''
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\27\ 16 CFR 305.5(a) and 305.11(a) (FTC testing and labeling);
see also 10 CFR Part 430 (DOE test procedures).
\28\ Consistent with the Rule's requirements, the proposed
exemption applies to both manufacturers and private labelers.
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To ensure label consistency following the exemption period, the
Commission also proposed to require the new labels after the new DOE
test procedures become effective, by amending sections 305.5(a) and
305.11 of the Rule. Thus, the new labels would apply to all
refrigerators and clothes washers distributed on, or after, the new DOE
test procedure compliance dates (September 15, 2014 for refrigerators
and March 7, 2015 for clothes washers). The Commission proposed to
maintain this new label until DOE further amends the test procedures
for these products. In addition, the Commission stated that it would
issue new comparability ranges for those products once it receives
product data reflecting new and existing models tested under the new
DOE procedures.
Comments: The comments generally supported the creation of distinct
labels for refrigerators and clothes washers tested under the new test
procedure. For example, AHAM explained that, without these proposed
modifications, consumers will be confused given the significant changes
resulting from the test procedure modifications. In its view, the
proposed labels will effectively communicate to consumers that they
should not compare the old and new labels. No comments opposed the
proposal.
In supporting the proposal, AHAM offered two minor recommendations.
First, it suggested slightly different wording for the new label's
disclosure: ``Compare only to other labels with yellow numbers. These
appliances were tested according to new U.S. Government requirements.''
\29\ AHAM raised concerns that the proposed phrase, ``tested
differently,'' is ambiguous and might leave consumers ``wondering how
and why the appliances were tested differently.'' AHAM argued its
proposed language will give consumers enough information to understand
the label without providing too much detail, which could be confusing.
AHAM also urged the Commission to provide additional information about
the upcoming transition on the Commission's Web site. Finally, AHAM
recommended the inclusion of a reference to Appendix B in DOE's
regulations, which is the revised test procedure for freezers because
these products are also covered by the exemption.
---------------------------------------------------------------------------
\29\ Alliance Laundry also supported AHAM's proposed language
modifications.
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Discussion: The Commission issues the proposed conditional
exemption and amends the Rule to create a distinct label for
refrigerators and clothes washers tested under the new DOE procedures.
The transitional labels will avoid the display of a misleading mix of
test results on EnergyGuide labels. In addition, the changes will
reduce burdens by allowing refrigerator and clothes washer
manufacturers to roll out new high-efficiency models well before the
DOE compliance date and thus avoid the logistical complications
associated with designing, producing, and testing many models at the
same time.\30\ Early compliance will also provide an incentive for
manufacturers to introduce models that meet the more stringent energy
standards sooner, thus providing consumers with more high-efficiency
choices.\31\ The Commission will provide information on its Web site to
ensure information about the new label is available to consumers.
Finally, the Commission agrees that AHAM's suggested language is less
confusing and adopts it with a minor modification. The final language
reads: ``Compare ONLY to other labels with yellow numbers. Labels with
yellow numbers are based on the same test procedures.'' The Commission
has substituted the phrase ``the same test procedures'' for AHAM's
suggested ``new U.S. Government requirements'' to simplify the message
and because the word ``new'' may mislead or confuse consumers in the
future when the
[[Page 43978]]
revised test procedures will no longer be new.
---------------------------------------------------------------------------
\30\ To facilitate the early introduction of these higher-
efficiency models, DOE has announced that manufacturers may certify
these models with DOE using the new test procedures, thus relieving
them from having to test new models under both the old and new test
procedures during the transition period. On June 29, 2012, DOE
issued guidance permitting early compliance with new or amended test
procedures and standards. See https://www1.eere.energy.gov/buildings/appliance_standards/pdfs/tp_faq_2012-06-29.pdf. Thus, in DOE's
view, manufacturers may begin using the new test procedures before
the dates specified for compliance by DOE.
\31\ AHAM also requested guidance on whether manufacturers must
change model numbers for products during the DOE transition period.
Unless the manufacturer modifies the model in a way that affects its
energy performance, the Commission does not recommend changing model
numbers during the transition.
---------------------------------------------------------------------------
The Commission grants manufacturers an exemption allowing them to
use the results of DOE's new procedures and provide those results on
EnergyGuide labels several months before the DOE compliance date for
the new procedures.\32\ The Commission grants this exemption only to
the extent necessary to allow manufacturers \33\ to use the new test
procedures on new or existing refrigerator models (including
refrigerators, refrigerator-freezers, and freezers) manufactured after
January 1, 2014 and clothes washer models manufactured after June 1,
2014. If a manufacturer continues to use the current (i.e., older) test
results for a particular model until the new test procedures become
mandatory on September 15, 2014 (for refrigerators) and March 7, 2015
(for clothes washers), the manufacturer must use the current label for
that model. Manufacturers remain obligated to comply with all other
Rule requirements. The Commission grants this exemption on the
following additional conditions:
---------------------------------------------------------------------------
\32\ The Rule directs manufacturers to use the results of
current DOE test procedures on their labels. 16 CFR 305.5(a) and
305.11(a) (FTC testing and labeling); see also 10 CFR Part 430 (DOE
test procedures).
\33\ Consistent with the Rule's requirements, the proposed
exemption applies to both manufacturers and private labelers.
---------------------------------------------------------------------------
(1) For models manufacturers choose to test and label under the
exemption, manufacturers must follow the new DOE test procedures in 10
CFR Part 430, Subpart B, Appendix A (refrigerators), Appendix B
(freezers), and Appendix J2 (clothes washers) to determine the energy
use figures printed on EnergyGuide labels; \34\
---------------------------------------------------------------------------
\34\ Manufacturers also may use the new test procedures for
labeling existing products during this period, but must follow all
conditions of this exemption in doing so.
---------------------------------------------------------------------------
(2) For all such models, manufacturers must use EnergyGuide labels,
as illustrated in Sample Labels 1A and 2A in Appendix L, with the
energy cost and electricity use figures in yellow text framed by block
boxes and containing the statement ``Compare ONLY to other labels with
yellow numbers. Labels with yellow numbers are based on the same test
procedures.''
(3) For all such models, manufacturers must print the estimated
energy cost on the label above the center of the comparability range,
and the following statement must appear directly below the range:
``Cost Range Not Available,'' as illustrated in Sample Labels 1A and 2A
of this Notice; \35\
---------------------------------------------------------------------------
\35\ The Commission will publish range information for the new
labels once energy data becomes available for refrigerators and
clothes washers tested under the new procedure, most likely in 2015.
---------------------------------------------------------------------------
(4) For all such models, the label must state that the estimated
energy cost is based on a national average electricity cost of 12 cents
per kWh and, for clothes washers, $1.09 per therm; \36\ and
---------------------------------------------------------------------------
\36\ New range and cost updates, as well as minor label changes
discussed in section II.B. (i.e., fuel rates to the nearest cent and
the use of ``energy cost'' instead of ``operating cost''), are not
required for refrigerator and clothes washer labels until the new
DOE test procedure compliance dates (September 15, 2014 for
refrigerators and March 7, 2015 for clothes washers).
---------------------------------------------------------------------------
(5) For all such clothes washer models, the label must state that
the estimated energy cost is based on six wash loads per week and, as
discussed below, must provide capacity in cubic feet.\37\
---------------------------------------------------------------------------
\37\ The new DOE test procedure changes the estimated weekly
clothes washer cycles from eight to six. 77 FR 13888 (DOE clothes
washer test procedure). Manufacturers must disclose the new usage
assumption (six cycles per week) on labels for models tested under
the new procedure.
---------------------------------------------------------------------------
To ensure consistency following the exemption period, the
Commission also amends the Rule at sections 305.5(a) and 305.11 to
require these new labels after the test procedure transition. Thus, the
new labels apply to all refrigerators and clothes washers manufactured
on, or after, the DOE new test procedure compliance dates (September
15, 2014 for refrigerators and March 7, 2015 for clothes washers).
These new labels, which clearly differentiate the procedures used to
test each product, will prevent the consumer confusion that would
result if a single label included information derived from different
test procedures. The Commission plans to maintain this new label until
DOE further amends the test procedures. In addition, after the
Commission receives product data reflecting new and existing models
tested under the new DOE procedures, it intends to issue new
comparability ranges for those products.
D. Additional Refrigerator and Clothes Washer Issues
In its NPRM, the Commission also discussed three issues related to
refrigerators and clothes washers raised in response to the regulatory
review notice: (1) Changes to refrigerator range categories; (2)
disclosures for refrigerator models with optional icemakers; and (3)
capacity information for clothes washers.
1. Refrigerator Comparability Range Categories
Background: The current rule organizes refrigerator comparability
ranges by product configuration (e.g., models with top-mounted
freezers) in Appendices A1-A8. These categories allow consumers to
compare the energy use of similarly configured products. The
requirements designate eight separate range categories for
refrigerators and three for freezers. Similarly, the current rule
contains three separate range categories for stand-alone freezer
configurations in Appendices B1-B3.\38\ These ranges disclose the
energy costs associated with the most and least efficient models in a
particular category. Specifically, for automatic-defrost refrigerator
freezers, which typically populate the bulk of showroom floors, the
Rule contains five categories (or styles): side-by-side door models
with and without through-the-door ice service (Appendices A5 and A8);
top-mounted freezer models with and without through-the-door ice
service (A4 and A7); and bottom-mounted freezer models (A6). The Rule
also has ranges for less common models, including those with manual and
partial defrost models (A1 and A2), and refrigerator-only models
(A1).\39\
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\38\ The Rule further divides each model category into several
size classes (e.g., 19.5 to 21.4 cubic feet), each with its own
comparability range.
\39\ See 16 CFR Part 305, Appendices A and B.
---------------------------------------------------------------------------
In response to last year's regulatory review notice, several
energy-efficiency and consumer groups urged the Commission to
consolidate the comparability ranges into a single range covering all
configurations.\40\ They reasoned one range would allow consumers to
compare a product's energy performance against all other models. AHAM
opposed this approach, arguing that consolidation would cast fully-
featured products that use more energy in an unfavorable light. AHAM
also pointed to data suggesting that consumers usually replace their
existing refrigerators with similarly configured models. AHAM
acknowledged, however, that it had no detailed information directly
addressing whether consumers shop with a specific configuration in
mind. It concluded that, without clear data on consumer shopping
habits, the Commission should refrain from changing the current
ranges.\41\
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\40\ Joint Comments from Energy-Efficiency and Consumer
Organizations (May 16, 2012) (560957-00015) available at
https://www.ftc.gov/os/comments/energylabelamend/00015-83010.pdf.
\41\ AHAM comments (Sept. 11, 2012) ( 560957-00025)
available at https://www.ftc.gov/os/comments/energylabelamend/560957-00025-84112.pdf.
---------------------------------------------------------------------------
In the January 9, 2013 NPRM,\42\ the Commission did not propose to
alter the refrigerator ranges, stating a reluctance to alter existing
requirements without
[[Page 43979]]
providing further opportunity for comment and in the absence of
information about consumer buying habits. After DOE's new standards for
refrigerators become effective in late 2014, the Commission indicated
it would examine new range data and consider whether to propose changes
to the range categories.
---------------------------------------------------------------------------
\42\ 78 FR 1785.
---------------------------------------------------------------------------
Comments: In response to the January 2013 NPRM, several commenters
provided views about the organization of refrigerator range categories.
AHAM maintained that the Commission should not change the current
requirements without supporting data on consumer shopping habits. In
contrast, the Joint Commenters urged the Commission to consolidate the
ranges, citing data from Consumer Reports and AHAM suggesting that
consumers do not limit their shopping comparisons to similarly-
configured models. The Joint Commenters also submitted the results of
an email survey to Earthjustice members demonstrating a strong
preference for the consolidation of the comparison categories. The
Joint Commenters also submitted more than 2,000 letters from
Earthjustice members urging the Commission to consolidate these ranges.
CA IOU also called on the Commission to change the label, but suggested
the inclusion of two comparison ranges, one to compare similarly
configured models and another to compare all models, regardless of
configuration.
Discussion: The final rule does not change the refrigerator ranges.
The Commission plans to update the ranges after DOE standards and test
procedure become effective in 2014. Until that time, there will be no
range information for the models tested under the new procedure,
regardless of which category or subcategory apply. Once it receives new
data, the Commission will examine the new data to determine whether the
elimination of subcategories makes a practical difference in the
ranges. In the meantime, the Commission will also consider the
commenter views and, if appropriate, propose changes to the
refrigerator range structure in a future notice.
2. ``Icemaker Ready'' Refrigerator-Freezer Models
Background: Currently, refrigerator labels do not reflect icemaker
energy consumption because the current DOE test procedure does not
measure a model's icemaker operation. The new DOE procedures, however,
will account for icemakers. Therefore, the new labels will include
icemaker energy consumption.\43\ The new DOE testing rules divide
relevant products into two categories (i.e., units with pre-installed
icemakers and units without). Each category will have its own
EnergyGuide labels reflecting different tests. In light of this change,
AHAM has raised concerns about so-called ``kitable'' models (i.e.,
models that can be fitted with an icemaker before or after
purchase).\44\ In earlier comments, AHAM suggested that all ``kitable''
refrigerator labels should disclose the energy use of the model shipped
without the optional icemaker to avoid overstating energy costs for
models that may never have an icemaker. In addition, AHAM suggested
additional label language to inform retailers and consumers that the
addition of an icemaker will increase the model's energy costs.
---------------------------------------------------------------------------
\43\ 16 CFR 305.5 (FTC testing rules); 10 CFR Part 430, Subpart
B, Appendix A (DOE refrigerator tests).
\44\ AHAM comments (May 16, 2012, and October 31, 2012) at
https://www.ftc.gov/os/comments/energylabelamend/00013-83038.pdf.
---------------------------------------------------------------------------
In the NPRM, the Commission agreed that AHAM's proposal merited
consideration, but noted that DOE plans to reexamine the treatment of
these models under its test procedure, a reexamination that might
provide guidance that addresses AHAM's concerns.\45\ Accordingly, the
Commission announced it would not impose additional testing-related
disclosures for these products until DOE completed its deliberations.
---------------------------------------------------------------------------
\45\ 77 FR 3559, 3569 (DOE notice on refrigerator testing
requirements effective Sept. 15, 2014).
---------------------------------------------------------------------------
Comments: In response to the NPRM, AHAM continued to urge the
Commission to provide guidance on labeling ``icemaker ready'' models
given impending DOE test procedure changes impacting these products.
Clarifying its earlier comments, AHAM explained that manufacturers only
consider a model ``kitable'' or ``icemaker ready'' if it leaves the
factory without the icemaker. In addition, once the model leaves the
manufacturer's control, distributors, retailers, or other entities may
add an icemaker, which, in some cases, might be made by a third party.
According to AHAM, manufacturers assign ``kitable'' models with one
model number.
AHAM explained that the new 2014 refrigerator-freezer DOE test
procedure will account for icemaker energy via a uniform ``adder'' of
84 kWh per year for all models with icemakers.\46\ According to AHAM,
DOE is considering changes to the test procedure to include specific
measurements for icemaker energy use, an effort which may lead to
further changes to the standards in a few years.\47\
---------------------------------------------------------------------------
\46\ The 2014 testing rules, according to AHAM, also require
manufacturers to certify icemaker-ready refrigerator-freezers as two
separate models (i.e., with an icemaker and without an icemaker)
because a consumer may purchase either version. See 76 FR 57516.
\47\ AHAM predicted that these future DOE test and standards
changes will provide an opportunity for FTC to return to the current
EnergyGuide label design for these products.
---------------------------------------------------------------------------
Pending further modifications to the DOE test procedure, AHAM asked
the Commission to provide labeling requirements to address the icemaker
energy of these products. In particular, AHAM recommended that the
Commission require a single label on ``kitable'' models disclosing the
product's energy use without the icemaker. AHAM reasoned that, because
such models do not include icemakers when they leave the factory, and
may never receive one, the inclusion of icemaker energy would be
inaccurate in many cases. To address the possibility that these units
may later receive an icemaker, AHAM also proposed the following label
statement: ``With an icemaker, estimated yearly electricity use is
estimated to increase by 84 kWh/year, which adds $9 to the estimated
yearly operating cost.'' Such an approach, in AHAM's view, will provide
an easily applied and enforceable bright line rule. It also provides
consumers with clear and accurate information about the refrigerator,
whether it eventually includes an icemaker, or not.
Discussion: The Commission will consider ways to address icemaker
energy use after DOE provides additional guidance on this issue or
changes its testing rules. As indicated in an attachment to its
comments, AHAM has requested additional guidance from DOE on its
testing and certification requirements for ``kitable'' models in
anticipation of the new testing rules scheduled for 2014. Although it
may be possible for the Commission to impose labeling requirements
before such guidance is issued, it is reluctant to do so, given the
evolving understanding of these issues by AHAM, DOE, and the FTC. The
Commission will continue to monitor guidance from DOE and, if
necessary, address this issue either through rulemaking or staff
guidance.\48\
---------------------------------------------------------------------------
\48\ If DOE does not issue additional information on this issue
in the near future, the Commission understands that some
manufacturers may need guidance to label some models manufactured as
early as January 2014.
---------------------------------------------------------------------------
At this time, the Commission agrees with AHAM that a generic label
statement disclosing icemaker energy costs for ``kitable'' models may
be appropriate. However, the Commission
[[Page 43980]]
does not necessarily agree that the label's primary disclosure (i.e.,
estimated yearly energy cost) should exclude icemaker energy, as AHAM
recommends. This exclusion could underestimate energy cost for many
consumers, particularly if many units will eventually include an
icemaker. Therefore, absent data demonstrating that most units never
include an icemaker, the better approach arguably may be to include
icemaker energy in the primary disclosure and explain elsewhere on the
label that an icemaker-free unit will reduce the unit's energy cost.
3. Clothes Washer Capacity
Background: Last year, the Commission proposed to require specific
capacity information in cubic feet on EnergyGuide labels for clothes
washers.\49\ AHAM opposed the proposal, citing potential burdens to
manufacturers in specifying capacity for each individual model. In the
NPRM, the Commission sought additional comments, but also noted that
DOE data for clothes washers suggests that the proposed change would
only require new labels for a small fraction of models.\50\
---------------------------------------------------------------------------
\49\ 77 FR 15302 (proposing to amend 16 CFR 305.7(g) to include
clothes washer capacity on the label).
\50\ See DOE clothes washer data at https://www.regulations.doe.gov/ccms/.
---------------------------------------------------------------------------
Current EnergyGuide labels indicate whether the model is
``standard'' or ``compact,'' but do not specify volume (e.g., 3.5 cubic
feet). In the current market, most models fall into the broad
``standard'' size class (i.e., models with tub capacities greater than
1.6 cubic feet), but actual capacity varies significantly. Thus, the
general capacity disclosure provides little assistance to consumers in
distinguishing washer size. A specific capacity disclosure should help
consumers make product comparisons, and complement recent DOE and
industry efforts to ensure uniformity in capacity disclosures.\51\
---------------------------------------------------------------------------
\51\ See 75 FR 57556, 57575 (Sept. 21, 2010) (DOE clothes washer
notice) and https://www.aham.org/ht/a/GetDocumentAction/i/51727.
---------------------------------------------------------------------------
Comments: In response to the NPRM, AHAM continued to oppose the
inclusion of specific capacity information on EnergyGuide labels for
clothes washer labels, including those subject to the proposed
conditional exemption.\52\ AHAM argued that the Commission has failed
to point to any data showing that consumers find existing capacity
information insufficient. It also noted that capacity information is
available from other sources.\53\ Accordingly, AHAM argued that the
Commission should not add this new requirement.
---------------------------------------------------------------------------
\52\ AHAM objected to the original proposal, arguing that it
will greatly increase the number of labels manufacturers have to
produce because some manufacturers use a single label for multiple,
differently-sized models that have the same energy use rating. In
the NPRM, the Commission noted that, based on existing DOE data for
clothes washer models, the number of these models would likely be
small. See 78 FR 1784-85.
\53\ AHAM noted that, although FTC and DOE regulations used the
term ``capacity,'' ``volume'' provides a better description of the
washer drum's cubic foot measurement. The term ``capacity,'' as AHAM
typically uses it, refers to the quantity of clothes that can be
effectively washed and rinsed in a single load.
---------------------------------------------------------------------------
Other commenters disagreed. One industry member, Alliance Laundry
Systems, supported the inclusion of specific capacity information
explaining the disclosure is consistent with DOE requirements, and
avoids possible confusion by retailers or consumers.\54\ Similarly, the
Joint Commenters continued to support the FTC's proposal to require
specific capacity rather than just ``standard'' or ``compact,'' noting
that capacity may be helpful to consumers comparing the operating costs
of different models because capacity is directly proportional to
estimated annual operating costs.\55\
---------------------------------------------------------------------------
\54\ Alliance also noted that its own cost for including this
information on labels is ``minimal to non-existent.'' However,
Alliance noted that some manufacturers may need to create unique
labels for models that had been grouped together in the past for
labeling purposes.
\55\ In earlier comments, PG&E supported the specific capacity
disclosure proposed in the regulatory review notice, suggesting it
might ``prompt consumers to think more critically about the utility
of different sized washers, and also [their] associated energy and
water requirements.'' Pacific Gas and Electric Company (PG&E)
comments (May 15, 2012) (00009) at https://www.ftc.gov/os/comments/energylabelamend/00009-82974.pdf.
---------------------------------------------------------------------------
Discussion: The final rule requires the inclusion of capacity on
clothes washer labels. In response to AHAM's comment, the final
amendments use the term ``tub volume'' in addition to ``capacity.''
\56\ This disclosure must appear on units labeled under the conditional
exemption in 2014 and on all clothes washer labels for units
manufactured on or after March 7, 2015. Specific capacity (i.e.,
volume) information, which also appears on EnergyGuide labels for
several other product types, will allow consumers to easily to compare
the size and energy cost of competing models. Industry members have
used different methods for capacity disclosures in the past.\57\ A
consistent disclosure based on a consistent DOE-mandated procedure will
help avoid such problems in the future and thus will benefit consumers.
In addition, because manufacturers already generate volume information
from the DOE test procedure, the disclosure should impose little burden
when manufacturers update the clothes washer labels. Accordingly, these
considerations provide a reasonable basis to conclude that capacity
information on the clothes washer labels is appropriate for the
EnergyGuide label.
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\56\ The final label also clarifies that the terms ``standard''
and ``compact'' refer to the product's capacity class, not its
specific capacity (e.g., 2.8 cubic feet).
\57\ See 75 FR 15298, 15302 (Mar. 15, 2012) (discussing industry
efforts to harmonize capacity disclosures).
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IV. Paperwork Reduction Act
The current Rule contains recordkeeping, disclosure, testing, and
reporting requirements that constitute information collection
requirements as defined by 5 CFR 1320.3(c), the definitional provision
within the Office of Management and Budget (OMB) regulations that
implement the Paperwork Reduction Act (PRA). OMB has approved the
Rule's existing information collection requirements through February
29, 2016 (OMB Control No. 3084 0069). The amendments do not change the
substance or frequency of the recordkeeping, disclosure, or reporting
requirements and, therefore, do not require further OMB clearance.
V. Regulatory Flexibility Act
The provisions of the Regulatory Flexibility Act relating to a
Regulatory Flexibility Act analysis (5 U.S.C. 603-604) are not
applicable to this proceeding because the amendments do not impose any
new obligations on entities regulated by the Energy Labeling Rule. As
explained in detail elsewhere in this document, the proposed exemption
and amendments do not significantly change the substance or frequency
of the recordkeeping, disclosure, or reporting requirements. Thus, the
amendments will not have a ``significant economic impact on a
substantial number of small entities.'' 5 U.S.C. 605. The Commission
has concluded, therefore, that a regulatory flexibility analysis is not
necessary, and certifies, under Section 605 of the Regulatory
Flexibility Act (5 U.S.C. 605(b)), that the amendments announced today
will not have a significant economic impact on a substantial number of
small entities.
Rule Language
List of Subjects in 16 CFR Part 305
Advertising, Energy conservation, Household appliances, Labeling,
Reporting and recordkeeping requirements.
[[Page 43981]]
For the reasons set out above, the Commission amends 16 CFR Part
305 as follows:
PART 305--ENERGY AND WATER USE LABELING FOR CONSUMER PRODUCTS UNDER
THE ENERGY POLICY AND CONSERVATION ACT (ENERGY LABELING RULE)
0
1. The authority citation for part 305 continues to read as follows:
Authority: 42 U.S.C. 6294.
0
2. In Sec. 305.7, revise paragraph (g) to read as follows:
Sec. 305.7 Determinations of capacity.
* * * * *
(g) Clothes washers. The capacity shall be the tub capacity as
determined according to Department of Energy test procedures in 10 CFR
Part 430, subpart B, in the terms ``standard'' or ``compact'' as
defined in appendix J1 to 10 CFR Part 430. For models manufactured
after March 7, 2015, the capacity shall be the tub capacity as
determined according to Department of Energy test procedures in 10 CFR
Part 430, subpart B, expressed in terms of ``Capacity (tub volume)'' in
cubic feet, rounded to the nearest one-tenth of a cubic foot, and the
capacity class designations ``standard'' or ``compact.''
* * * * *
0
3. In Sec. 305.10, revise paragraphs (a) and (b) to read as follows:
Sec. 305.10 Ranges of comparability on the required labels.
(a) Range of estimated annual energy costs or energy efficiency
ratings. The range of estimated annual operating costs or energy
efficiency ratings for each covered product (except fluorescent lamp
ballasts, metal halide lamp fixtures, lamps, showerheads, faucets,
water closets, urinals, ceiling fans, or televisions) shall be taken
from the appropriate appendix to this part in effect at the time the
labels are affixed to the product. The Commission shall publish revised
ranges in the Federal Register in 2017. When the ranges are revised,
all information disseminated after 90 days following the publication of
the revision shall conform to the revised ranges. Products that have
been labeled prior to the effective date of a modification under this
section need not be relabeled.
(b) Representative average unit energy cost. The Representative
Average Unit Energy Cost figures to be used on labels as required by
Sec. 305.11 are listed in appendix K to this part, except the
electricity and gas cost to be used on labels for refrigerators,
refrigerator-freezers, and freezers distributed before September 15,
2014, and labels for clothes washers distributed before March 7, 2015,
shall be 10.65 cents per kWh and 1.218 dollars per therm. The
Commission shall publish revised Representative Average Unit Energy
Cost figures in the Federal Register in 2017. When the cost figures are
revised, all information disseminated after 90 days following the
publication of the revision shall conform to the new cost figure.
* * * * *
0
4. In Sec. 305.11, revise paragraphs (f)(5) through (9) and
redesignate paragraphs (f)(11) and (12) as paragraphs (f)(10) and (11)
respectively.
The revisions read as follows:
Sec. 305.11 Labeling for refrigerators, refrigerator-freezers,
freezers, dishwashers, clothes washers, water heaters, room air
conditioners, and pool heaters.
* * * * *
(f) * * *
(5) Unless otherwise indicated in this paragraph, estimated annual
operating costs for refrigerators, refrigerator-freezers, freezers,
clothes washers, dishwashers, room air conditioners, and water heaters
are as determined in accordance with Sec. Sec. 305.5 and 305.10 of
this part. Thermal efficiencies for pool heaters are as determined in
accordance with Sec. 305.5. Labels for clothes washers and dishwashers
must disclose estimated annual operating cost for both electricity and
natural gas as illustrated in the sample labels in appendix L. For
refrigerators, refrigerator freezers, and freezers manufactured before
September 15, 2014, and clothes washers manufactured before March 7,
2015, annual operating costs shall be determined using the energy cost
figures of 10.65 cents for electricity and $1.218 for natural gas.
(6) Unless otherwise indicated in this paragraph, ranges of
comparability for estimated annual operating costs or thermal
efficiencies, as applicable, are found in the appropriate appendices
accompanying this part. For refrigerators, refrigerator-freezers, and
freezers manufactured on or after September 15, 2014, and clothes
washers manufactured on or after March 7, 2015, the range information
shall match the text and graphics in sample labels 1A and 2A of
Appendix L.
(7) Placement of the labeled product on the scale shall be
proportionate to the lowest and highest estimated annual operating
costs or thermal efficiencies, as applicable.
(8) Labels for refrigerators, refrigerator-freezers, freezers,
dishwashers, clothes washers, and water heaters must contain the
model's estimated annual energy consumption as determined in accordance
with Sec. 305.5 and as indicated on the sample labels in appendix L.
Labels for room air conditioners and pool heaters must contain the
model's energy efficiency rating or thermal efficiency, as applicable,
as determined in accordance with Sec. 305.5 and as indicated on the
sample labels in appendix L.
(9) Labels must contain a statement as illustrated in the prototype
labels in appendix L and specified as follows by product type:
(i) For refrigerators, refrigerator-freezers, and freezers, the
statement will read as follows (fill in the blanks with the appropriate
year and energy cost figures):
Your costs will depend on your utility rates and use.
[Insert statement required by Sec. 305.11(f)(9)(iii)].
Estimated energy cost is based on a national average electricity
cost of ---- cents per kWh.
For more information, visit www.ftc.gov/energy.
(ii) For refrigerators, refrigerator-freezers, and freezers
manufactured on or after September 15, 2014 and clothes washers
manufactured after March 7, 2015, the label shall contain the text and
graphics illustrated in sample labels 1A and 2A of Appendix L,
including the statement:
Compare ONLY to other labels with yellow numbers.
Labels with yellow numbers are based on the same test procedures.
(iii) For refrigerators, refrigerator-freezers, and freezers, the
following sentence shall be included as part of the statement required
by Sec. 305.11(f)(9)(i):
(A) For models covered under appendix A1, the sentence shall read:
Cost range based only on models of similar capacity with automatic
defrost.
(B) For models covered under appendix A2, the sentence shall read:
Cost range based only on models of similar capacity with manual
defrost.
(C) For models covered under appendix A3, the sentence shall read:
Cost range based only on models of similar capacity with partial
automatic defrost.
(D) For models covered under appendix A4, the sentence shall read:
Cost range based only on models of similar capacity with automatic
defrost, top-mounted freezer, and without through-the-door ice.
(E) For models covered under appendix A5, the sentence shall read:
Cost range based only on models of similar capacity with automatic
defrost, side-mounted freezer, and without through-the-door ice.
[[Page 43982]]
(F) For models covered under appendix A6, the sentence shall read:
Cost range based only on models of similar capacity with automatic
defrost, bottom-mounted freezer, and without through-the-door ice.
(G) For models covered under appendix A7, the sentence shall read:
Cost range based only on models of similar capacity with automatic
defrost, top-mounted freezer, and through-the-door ice.
(H) For models covered under appendix A8, the sentence shall read:
Cost range based only on models of similar capacity with automatic
defrost, side-mounted freezer, and through-the-door ice.
(I) For models covered under appendix B1, the sentence shall read:
Cost range based only on upright freezer models of similar capacity
with manual defrost.
(J) For models covered under appendix B2, the sentence shall read:
Cost range based only on upright freezer models of similar capacity
with automatic defrost.
(K) For models covered under appendix B3, the sentence shall read:
Cost range based only on chest and other freezer models of similar
capacity.
(iv) For room air conditioners covered under appendix E, the
statement will read as follows (fill in the blanks with the appropriate
model type, year, energy type, and energy cost figure):
Your costs will depend on your utility rates and use.
Cost range based only on models [of similar capacity without
reverse cycle and with louvered sides; of similar capacity without
reverse cycle and without louvered sides; with reverse cycle and with
louvered sides; or with reverse cycle and without louvered sides].
Estimated annual energy cost is based on a national average
electricity cost of ---- cents per kWh and a seasonal use of 8 hours
use per day over a 3 month period.
For more information, visit www.ftc.gov/energy.
(v) For water heaters covered by Appendices D1, D2, and D3, the
statement will read as follows (fill in the blanks with the appropriate
fuel type, year, and energy cost figures):
Your costs will depend on your utility rates and use.
Cost range based only on models of similar capacity fueled by
[natural gas, oil, propane, or electricity].
Estimated energy cost is based on a national average [electricity,
natural gas, propane, or oil] cost of [---- cents per kWh or $---- per
therm or gallon].
For more information, visit www.ftc.gov/energy.
(vi) For instantaneous water heaters (appendix D4) and heat pump
water heaters (appendix D5), the statement will read as follows (fill
in the blanks with the appropriate model type, the operating cost, the
year, and the energy cost figures):
Your costs will depend on your utility rates and use.
Cost range based only on [instantaneous gas water heater or heat
pump water heater] models of similar capacity. Estimated energy cost is
based on a national average [electricity, natural gas, or propane] cost
of [---- cents per kWh or $---- per therm or gallon].
For more information, visit www.ftc.gov/energy.
(vii) For dishwashers covered by appendices C1 and C2, the
statement will read as follows (fill in the blanks with the appropriate
appliance type, the energy cost, the number of loads per week, the
year, and the energy cost figures):
Your costs will depend on your utility rates and use.
Cost range based only on [compact/standard] capacity models.
Estimated energy cost is based on 4 washloads a week, and a
national average electricity cost of ---- cents per kWh and natural gas
cost of $---- per therm.
For more information, visit www.ftc.gov/energy.
(viii) For clothes washers manufactured before March 7, 2015
covered by appendices F1 and F2, the statement will read as follows
(fill in the blanks with the appropriate appliance type, the energy
cost, the number of loads per week, the year, and the energy cost
figures):
Your costs will depend on your utility rates and use.
Cost range based only on [compact/standard] capacity models.
Estimated energy cost is based on 8 washloads a week and a national
average electricity cost of ---- cents per kWh and natural gas cost of
$---- per therm.
For more information, visit www.ftc.gov/energy.
(ix) For clothes washers manufactured after March 7, 2015, the
label shall contain the text and graphics illustrated in sample labels
1A and 2A of Appendix L, including the statement:
Compare ONLY to other labels with yellow numbers.
Labels with yellow numbers are based on the same test procedures.
(x) For pool heaters covered under appendices J1 and J2, the
statement will read as follows:
Efficiency range based only on models fueled by [natural gas or
oil].
For more information, visit www.ftc.gov/energy.
* * * * *
0
5. In Sec. 305.12, revise paragraphs (i)(11)(iii), (i)(12)(iii), and
(i)(13) to read as follows:
Sec. 305.12 Labeling for central air conditioners, heat pumps, and
furnaces.
* * * * *
(i) * * *
(11) * * *
(iii) For single-package air conditioners, a statement that reads:
Energy Efficiency Ratio (EER): This model's EER is [ ----].
(12) * * *
(iii) For split-system air conditioner systems, a statement that
reads:
Energy Efficiency Ratio (EER): could range from [----] to [----],
depending on the coil installed with this unit.
(13) For any single-package air conditioner with an EER below 11.0,
the label must contain the following regional standards information
consistent with sample label 7B in appendix L to this part:
(i) A statement that reads:
Notice Federal law allows this unit to be installed only in: AK,
AL, AR, CO, CT, DC, DE, FL, GA, HI, ID, IL, IA, IN, KS, KY, LA, MA, ME,
MD, MI, MN, MO, MS, MT, NC, ND, NE, NH, NJ, NY, OH, OK, OR, PA, RI, SC,
SD, TN, TX, UT, VA, VT, WA, WV, WI, WY and U.S. territories.
Federal law prohibits installation of this unit in other states.
(ii) A map and accompanying text as illustrated in the sample label
in appendix L.
(iii) A statement that reads:
Energy Efficiency Ratio (EER): This model's EER is [----].
* * * * *
0
6. In Sec. 305.17, revise paragraphs (a), (b), (f)(6), and (f)(8)(ii)
to read as follows:
Sec. 305.17 Television labeling.
(a) Layout. All energy labels for televisions shall use one of
three shapes: a vertical rectangle, a horizontal rectangle, and a
triangle as detailed in Prototype Labels in appendix L. All label size,
positioning, spacing, type sizes, positioning of headline, copy, and
line widths must be consistent with the prototype and sample labels in
appendix L. The minimum label size for the vertical rectangle label is
1.5''x5.5''. The minimum size for the horizontal rectangle label is
1.5''x5.23''. The minimum size for the triangle label is 4.5''x4.5''
(right angle sides).
(b) Type style and setting. The Arial series typeface or equivalent
shall be
[[Page 43983]]
used exclusively on the label. Prototype Labels in appendix L contain
specific directions for type style and setting and indicate the
specific sizes, leading, faces, positioning, and spacing to be used. No
hyphenations should be used in setting headline or copy text.
* * * * *
(f) * * *
(6) Placement of the labeled product on the scale proportionate to
the lowest and highest estimated annual energy costs as illustrated in
Prototype and Sample Labels in appendix L. When the estimated annual
energy cost of a given television model falls outside the limits of the
current range for that product, the manufacturer shall place the
product at the end of the range closest to the model's energy cost.
* * * * *
(8) * * *
(ii) The manufacturer may include the ENERGY STAR logo on the label
as illustrated in Sample Labels in appendix L. The logo must be 0.375''
wide. Only manufacturers that have signed a Memorandum of Understanding
with the Department of Energy or the Environmental Protection Agency
covering the televisions to be labeled may add the ENERGY STAR logo to
those labels.
* * * * *
Sec. 305.20 [Amended]
0
7. Amend Sec. 305.20 as follows:
A. In paragraph (a)(5), remove the phrase ``For more information,
visit www.ftc.gov/energy.'' and add in its place ``For more
information, visit productinfo.energy.gov.''
B. In paragraph (g)(1), remove the phrase ``Sample Icon 13'' and
add in its place ``the sample icon''.
0
8. Appendix C1 to Part 305 is revised to read as follows:
Appendix C1 to Part 305--Compact Dishwashers
Range Information
``Compact'' includes countertop dishwasher models with a capacity
of fewer than eight (8) place settings. Place settings shall be in
accordance with appendix C to 10 CFR part 430, subpart B. Load patterns
shall conform to the operating normal for the model being tested.
------------------------------------------------------------------------
Range of estimated annual
energy costs (dollars/
Capacity year)
---------------------------
Low High
------------------------------------------------------------------------
Compact..................................... $18 $27
------------------------------------------------------------------------
0
9. Appendix C2 to Part 305 is revised to read as follows:
Appendix C2 to Part 305--Standard Dishwashers
Range Information
``Standard'' includes dishwasher models with a capacity of eight
(8) or more place settings. Place settings shall be in accordance with
appendix C to 10 CFR part 430, subpart B. Load patterns shall conform
to the operating normal for the model being tested.
------------------------------------------------------------------------
Range of estimated annual
energy costs (dollars/
Capacity year)
---------------------------
Low High
------------------------------------------------------------------------
Standard.................................... $21 $41
------------------------------------------------------------------------
0
10. Appendices D1 through D5 to Part 305 are revised to read as
follows:
Appendix D1 to Part 305--Water Heaters--Gas
Range Information
----------------------------------------------------------------------------------------------------------------
Capacity Range of estimated annual energy costs (dollars/
------------------------------------------------------------- year)
---------------------------------------------------
Natural gas ($/year) Propane ($/year)
First hour rating ---------------------------------------------------
Low High Low High
----------------------------------------------------------------------------------------------------------------
Less than 21................................................ * * * *
21 to 24.................................................... * * * *
25 to 29.................................................... * * * *
30 to 34.................................................... * * * *
35 to 40.................................................... * * * *
41 to 47.................................................... * * * *
48 to 55.................................................... $253 $271 $628 $673
56 to 64.................................................... 257 271 637 670
65 to 74.................................................... 228 275 565 696
75 to 86.................................................... 228 275 565 682
87 to 99.................................................... 228 275 565 746
100 to 114.................................................. 228 302 565 746
115 to 131.................................................. 228 332 590 824
Over 131.................................................... 235 332 582 824
----------------------------------------------------------------------------------------------------------------
* No data submitted.
[[Page 43984]]
Appendix D2 to Part 305--Water Heaters--Electric
Range Information
------------------------------------------------------------------------
Capacity Range of estimated
----------------------------------------------- annual energy (dollars/
year)
First hour rating -------------------------
Low High
------------------------------------------------------------------------
Less than 21.................................. $567 $567
21 to 24...................................... * *
25 to 29...................................... 567 567
30 to 34...................................... 567 573
35 to 40...................................... 560 573
41 to 47...................................... 554 599
48 to 55...................................... 554 599
56 to 64...................................... 554 586
65 to 74...................................... 554 599
75 to 86...................................... 554 613
87 to 99...................................... 567 620
100 to 114.................................... 579 651
115 to 131.................................... 613 635
Over 131...................................... * *
------------------------------------------------------------------------
* No data submitted.
Appendix D3 to Part 305--Water Heaters--Oil
Range Information
------------------------------------------------------------------------
Capacity Range of estimated
----------------------------------------------- annual energy costs
(dollars/year)
First hour rating -------------------------
Low High
------------------------------------------------------------------------
Less than 65.................................. * *
65 to 74...................................... * *
75 to 86...................................... * *
87 to 99...................................... * *
100 to 114.................................... $684 $760
115 to 131.................................... 760 804
Over 131...................................... 604 746
------------------------------------------------------------------------
* No data submitted.
Appendix D4 to Part 305--Water Heaters--Instantaneous--Gas
Range Information
----------------------------------------------------------------------------------------------------------------
Capacity Range of estimated annual energy costs (dollars/
------------------------------------------------------------- year)
---------------------------------------------------
Natural Gas ($/year) Propane ($/year)
Capacity (maximum flow rate); gallons per minute (gpm) ---------------------------------------------------
Low High Low High
----------------------------------------------------------------------------------------------------------------
Under 1.00.................................................. * * * *
1.00 to 2.00................................................ * * * *
2.01 to 3.00................................................ $192 $237 $465 $574
Over 3.00................................................... 170 204 408 494
----------------------------------------------------------------------------------------------------------------
* No data submitted.
Appendix D5 to Part 305--Water Heaters--Heat Pump
Range Information
------------------------------------------------------------------------
Capacity Range of estimated
----------------------------------------------- annual energy costs
(dollars/year)
First hour rating -------------------------
Low High
------------------------------------------------------------------------
Less than 21.................................. * *
21 to 24...................................... * *
25 to 29...................................... * *
30 to 34...................................... * *
35 to 40...................................... * *
41 to 47...................................... $268 $268
48 to 55...................................... * *
56 to 64...................................... 224 275
65 to 74...................................... 220 264
75 to 86...................................... 226 226
87 to 99...................................... * *
100 to 114.................................... * *
115 to 131.................................... * *
Over 131...................................... * *
------------------------------------------------------------------------
* No data submitted.
0
11. Appendix E to Part 305 is revised to read as follows:
Appendix E to Part 305--Room Air Conditioners
Range Information
------------------------------------------------------------------------
Range of estimated
annual energy costs
Manufacturer's rated cooling capacity in Btu's/ (dollars/year)
hr -------------------------
Low High
------------------------------------------------------------------------
Without Reverse Cycle and with Louvered Sides:
Less than 6,000 Btu....................... $42 $48
6,000 to 7,999 Btu........................ 50 72
8,000 to 13,999 Btu....................... 66 115
14,000 to 19,999 Btu...................... 117 195
20,000 and more Btu....................... 169 382
Without Reverse Cycle and without Louvered
Sides:
Less than 6,000 Btu....................... * *
6,000 to 7,999 Btu........................ 56 72
8,000 to 13,999 Btu....................... 73 138
14,000 to 19,999 Btu...................... 140 166
20,000 and more Btu....................... * *
With Reverse Cycle and with Louvered Sides.... 71 225
With Reverse Cycle, without Louvered Sides.... 89 126
------------------------------------------------------------------------
* No data submitted.
0
12. Appendices J1 and J2 are revised to read as follows:
Appendix J1 to Part 305--Pool Heaters--Gas
[[Page 43985]]
Range Information
----------------------------------------------------------------------------------------------------------------
Range of thermal efficiencies (percent)
-------------------------------------------------------------------
Manufacturer's rated heating capacity Natural gas Propane
-------------------------------------------------------------------
Low High Low High Low
--------------------------------------------------------------------------------------------------------- -----------
All capacities................................... 82.0 95.0 82.0 95.0
----------------------------------------------------------------------------------------------------------------
Appendix J2 to Part 305--Pool Heaters--Oil
Range Information
------------------------------------------------------------------------
Range of thermal efficiencies
(percent)
Manufacturer's rated heating capacity ---------------------------------
Low High
------------------------------------------------------------------------
All capacities........................ *.............. *
------------------------------------------------------------------------
* No data submitted.
0
13. Appendix K to Part 305 is revised to read as follows:
Appendix K to Part 305--Representative Average Unit Energy Costs
This Table contains the representative unit energy costs that must
be utilized to calculate estimated annual energy cost disclosures
required under sections 305.11 and 305.20. This Table is based on
information published by the U.S. Department of Energy in 2013. Unless
otherwise indicated by the Commission, this table will be revised in
2017.
Unit Costs of Energy for Use on EnergyGuide Labels Required by Section 305.11
----------------------------------------------------------------------------------------------------------------
In commonly used terms Dollars per
Type of energy (used for EnergyGuide As required by DOE test million Btu
label) procedure \1\
----------------------------------------------------------------------------------------------------------------
Electricity.............................. 12.00[cent]/kWh 2, 3....... $.12/kWh................... $35.46
Natural Gas.............................. $1.09/therm \4\............ 0.0000109/Btu.............. 10.87
$11.12/MCF 5, 6............
No. 2 heating oil........................ $3.80/gallon \7\........... 0.00002740/Btu............. 27.40
Propane.................................. $2.41/gallon \8\........... 0.00002639/Btu............. 26.39
Kerosene................................. $4.21/gallon \9\........... 0.00003119/Btu............. 31.19
----------------------------------------------------------------------------------------------------------------
\1\ Btu stands for British thermal unit.
\2\ kWh stands for kiloWatt hour.
\3\ 1 kWh = 3,412 Btu.
\4\ 1 therm = 100,000 Btu. Natural gas prices include taxes.
\5\ MCF stands for 1,000 cubic feet.
\6\ For the purposes of this table, 1 cubic foot of natural gas has an energy equivalence of 1,023 Btu.
\7\ For the purposes of this table, 1 gallon of No. 2 heating oil has an energy equivalence of 138,690 Btu.
\8\ For the purposes of this table, 1 gallon of liquid propane has an energy equivalence of 91,333 Btu.
\9\ For the purposes of this table, 1 gallon of kerosene has an energy equivalence of 135,000 Btu.
0
14. In Appendix L, revise Prototype Labels 1, 2, and 3, and revise all
Sample Labels to read as follows:
BILLING CODE 6750-01-P
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By direction of the Commission.
Donald S. Clark,
Secretary.
[FR Doc. 2013-17553 Filed 7-22-13; 8:45 am]
BILLING CODE 6750-01-C