Energy Labeling Rule, 63633-63661 [2016-21854]
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Vol. 81
Thursday,
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September 15, 2016
Part III
Federal Trade Commission
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16 CFR Part 305
Energy Labeling Rule; Final Rule
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Federal Register / Vol. 81, No. 179 / Thursday, September 15, 2016 / Rules and Regulations
FEDERAL TRADE COMMISSION
16 CFR Part 305
RIN 3084–AB15
Energy Labeling Rule
Federal Trade Commission
(‘‘FTC’’ or ‘‘Commission’’).
ACTION: Final rule.
AGENCY:
The Commission issues final
amendments to improve access to
energy labels online and improve labels
for refrigerators, ceiling fans, central air
conditioners, and water heaters. The
Commission is issuing these
amendments to assist consumers in
their purchasing decisions and ensure
labels are consistent with Department of
Energy requirements.
DATES: The amendments to 16 CFR
305.3(x), 305.13, and Sample Label 17 of
Appendix L are effective on September
17, 2018. All other amendments
published in this document are effective
on June 12, 2017.
ADDRESSES: 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
home appliances and other consumer
products to help consumers compare
competing models. It also contains
labeling requirements for refrigerators,
refrigerator-freezers, freezers,
dishwashers, water heaters, clothes
washers, room air conditioners,
furnaces, central air conditioners, heat
pumps, plumbing products, lighting
products, ceiling fans, and televisions.
The Rule requires manufacturers to
attach yellow EnergyGuide labels to
many of the covered products and
prohibits retailers from removing these
labels or rendering them illegible. In
addition, it directs sellers, including
retailers, to post label information on
1 44
FR 66466 (Nov. 19, 1979).
U.S.C. 6294. EPCA also requires the
Department of Energy (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.
2 42
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Web sites and in paper catalogs from
which consumers can order products.
EnergyGuide labels for most covered
products contain three key disclosures:
Estimated annual energy cost; 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 cost calculations, the Rule specifies
national average costs for applicable
energy sources (e.g., electricity, natural
gas, oil) as calculated by DOE. Under
the Rule, the Commission periodically
updates comparability range and annual
energy cost information based on
manufacturer data submitted pursuant
to the Rule’s reporting requirements.3
II. Final Amendments to the Energy
Labeling Rule
In a November 2, 2015 Notice of
Proposed Rulemaking (‘‘2015 NPRM’’ or
‘‘NPRM’’), the Commission sought
comment on several proposed changes
to the Energy Labeling Rule.4 The
Commission received 17 comments in
response.5 Pursuant to the NPRM and
these comments, this final rule contains
amendments for an online label
database (label image reporting), revised
ceiling fan labels, new refrigerator
comparability range information, dualmode refrigerator labeling, revised
central air conditioner labels, and
revised water heater labels.6 In a
separate notice, the Commission will
seek comments on issues that involve
recent DOE regulatory actions or new
issues raised by commenters in this
proceeding, including portable air
conditioner labeling, plumbing
disclosures changes, large ceiling fan
CFR 305.10.
FR 67351 (Nov. 2, 2015).
5 The comments received in response to the 2015
NPRM are here: https://www.ftc.gov/policy/publiccomments/initiative-601. The comments included:
A. O. Smith Corporation (#00008); American
Lighting Association (ALA) (#00013); Association of
Home Appliance Manufacturers (AHAM) (#00016);
Air Conditioning, Heating and Refrigeration
Institute (AHRI) (#00015); Amazon (#00017);
Bradford White Corporation (BWC) (#00010); CSA
Group (#00007); California Investor Owned Utilities
(California IOUs) (#00019); Earthjustice (‘‘Joint
Commenters’’) (#00018); GE Appliances (GEA)
(#00012); Goodman Global, Inc. (#00020);
International Association of Plumbing and
Mechanical Officials (IAPMO) (#00022); Lochinvar,
LLC (#00009); NSF International (#00005);
Plumbing Manufacturers International (PMI)
(#00006); Rheem Manufacturing Company (#00014);
Tyler Prough (#00003); and Whirlpool Corporation
(#00011).
6 The Commission also sought comment on a few
of these issues during its review of the Energy
Labeling Rule. See 77 FR 15298 (Mar. 15, 2012); and
79 FR 34642 (June 18, 2014).
labels, and electric instantaneous water
heater labeling.
A. Online Label Database
Background: In the NPRM, the
Commission sought comments on the
development of a centralized label
database to provide retailers and
consumers with convenient access to
energy labels.7 To create such a
comprehensive database, the
Commission specifically proposed
requiring manufacturers to submit links
to their EnergyGuide and Lighting Facts
labels through their routine report to the
DOE’s Compliance Certification
Management System (CCMS) pursuant
to section 305.8.8 The NPRM explained
that this proposal would give online
retailers access to digital labels for
advertising or label replacement,
obviating the need to obtain labels from
individual manufacturers. The
Commission explained that access to a
single comprehensive database
containing all the covered labels would
benefit both consumers and retailers.
Retailers could use the data for
advertising and replacing missing labels
for their display models, and consumers
could use it to easily research
comparative efficiency.9
In the NPRM, the Commission
predicted this proposal was unlikely to
create undue burdens on manufacturers.
The current Rule already requires
manufacturers to post product labels on
their own sites.10 It also requires
manufacturers of most covered products
to submit annual reports, although such
reporting requirements are largely
harmonized with DOE’s. The proposed
FTC requirements would allow
manufacturers to submit their label
links through DOE’s CCMS. Under the
proposal, manufacturers would submit
the label links prior to distributing their
3 16
4 80
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7 The Commission also sought comments on this
issue in a June 18, 2014 Supplemental Notice of
Proposed Rulemaking (SNPRM) (79 FR 34642). As
explained in an earlier final rule, this requirement
would not apply to private labelers, but
manufacturers would be allowed to arrange with
third parties, including private labelers, to display
the labels and to submit the required links to
CCMS. See 78 FR 2200, 2205 (Jan. 10, 2013).
8 See 10 CFR 429.12. The proposed requirement
stems from EPCA’s mandate that manufacturers
‘‘provide’’ a label, the Commission’s general
authority to require manufacturers to submit
information, and the Commission’s authority to
specify the manner in which labels are displayed.
42 U.S.C. 6296(a) and (b); 42 U.S.C. 6294(c)(3).
9 In January 2013, the Commission amended
section 305.6 of the Rule to require manufacturers
to make copies of their EnergyGuide and Lighting
Facts labels available on a publicly accessible Web
site. See 78 FR 2200, 2205 (Jan. 10, 2013). In doing
so, the Commission aimed to improve the
availability of online labels for retailers that sell
covered products online.
10 16 CFR 305.6.
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products in commerce, consistent with
current labeling requirements. The
Commission also explained that it
planned to give industry members
ample time to make any necessary
changes to their Web sites to facilitate
compliance.
Comments: The commenters split in
their support of the proposed reporting
requirements. Appliance and ceiling fan
manufacturers objected, asserting it
would create burdens, questioning its
utility, and raising several legal
concerns. Conversely, energy efficiency
and consumer groups, retail sellers, and
heating and cooling equipment
manufacturers generally supported the
proposal, while providing a few
suggestions discussed below.
Critics argued that the proposal’s
costs outweigh its benefits. AHAM,
representing appliance manufacturers,
asserted that the label link submissions
would increase manufacturer burdens
while providing little benefit to
consumers and retailers. Similarly,
ALA, which represents ceiling fan
manufacturers, added that the proposal
would complicate existing requirements
and pose significant added burdens.
ALA also questioned the need for the
change, arguing that ceiling fan
customers are already comfortable with
using existing Web sites to comparison
shop. AHAM, as well as GEA, further
explained the requirement would create
difficult coordination issues between
various manufacture-related teams (e.g.,
engineering, design, Web site, etc.) and
would delay product deployment.11
According to AHAM and Whirlpool,
even short delays could cause
manufacturers to miss deadlines and
significantly disrupt business,
jeopardizing a manufacturer’s market
position and causing financial loss. In
addition, AHAM argued that the
proposal could lead to the premature
disclosure of competitive information,
such as capacity and energy efficiency,
several weeks before such information is
normally available to competitors.12
Finally, these commenters indicated
that frequent Web site changes would
pose additional compliance burdens,
11 Whirlpool explained that the proposal would
require it to reverse its current process, whereby it
holds off on creating Web pages for individual
models and uploading labels to its Web site until
after it receives DOE certification. According to
Whirlpool, any delay in this process would slow
certification and disrupt business. Whirlpool also
explained that the proposal would require
significant coordination with private labelers,
particularly when manufacturers certify models for
private labelers.
12 AHAM also indicated that, under current
requirements, DOE requires manufacturers to report
discontinued models for a slightly longer period of
time than does the FTC.
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particularly if manufacturers had to
change their certification reports every
time they change labels on their Web
site.
In addition to these concerns about
the proposal’s burdens, AHAM raised
two legal objections. First, it questioned
whether EPCA grants the Commission
authority to determine the content of
DOE’s reports. AHAM noted that the
Commission streamlined the data
reporting requirements in 2013 by
permitting manufacturers to file their
FTC-required annual reports on DOE’s
CCMS. However, in AHAM’s view, that
rulemaking differed from the present
proposal because it ‘‘did not merge the
DOE and FTC reporting requirements
themselves.’’ According to AHAM, DOE
is the agency with authority to require
reporting on CCMS and, thus, DOE must
effect changes to those reporting
requirements through its own
rulemaking. Second, AHAM argued the
proposal would force manufacturers to
violate DOE rules requiring
manufacturers to certify that their
covered products comply with
applicable energy conservation
standards. AHAM explained that, before
distributing any basic model in
commerce, manufacturers must submit a
certification report to DOE.13 In
determining whether a model has been
‘‘distributed in commerce,’’ DOE
considers several factors, including
whether the units have appeared in
public marketing material (e.g., on Web
sites or in catalogs), whether such
marketing material includes energy
efficiency information, and whether the
manufacturer has shown the unit at a
trade show.14 Therefore, to avoid
distributing a product in commerce
prior to certification, manufacturers
typically do not publicly release energy
labels until a basic model has been
certified to DOE. AHAM warned that
the FTC proposal could force
manufacturers to violate DOE
requirements by forcing them to upload
their energy labels prior to DOE
certification.15
In contrast, many commenters
supported the proposal. The Joint
Commenters argued that the benefits of
a centralized label database greatly
exceed the burden imposed on
manufacturers. Amazon, an online
13 See
10 CFR 429.12(a).
e.g., 76 FR 12422, 12426–27 (Mar. 7, 2011).
EPCA defines ‘‘distribute in commerce’’ as ‘‘to sell
in commerce, to import, to introduce or deliver for
introduction into commerce, or to hold for sale or
distribution after introduction into commerce.’’ 42
U.S.C. 6291(16).
15 Whirlpool added that the proposal could lead
to similar problems with ENERGY STAR program
requirements.
14 See,
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retailer that sells covered products,
explained that the ‘‘database would
allow consumers to easily research the
comparative efficiency of covered
products’’ and will help increase Rule
compliance and decrease mislabeling.
According to Amazon, the proposal
would not impose undue burdens on
manufacturers because the Rule already
directs them to have the labels available
on a Web site.
However, these commenters qualified
their support with several
recommendations. First, Amazon urged
the Commission to require
manufacturers to submit labels ‘‘as a
stand-alone image in a standardized
format.’’ It also recommended that the
Rule require a UPC (universal product
code) and label date information.
Second, the Joint Commenters urged the
Commission to extend the Rule to cover
products not presently subject to
reporting requirements, such as
specialty consumer lamps and LED
general service lamps. They asserted
this extension would help consumers
compare products through DOE’s
database. The Joint Commenters further
suggested that, even if the FTC does not
require label reporting for those
products, it should provide
manufacturers the option to submit such
information. Finally, the Joint
Commenters argued that DOE
enforcement guidance can easily
address any potential enforcement
problems. In addition, to avoid any
conflicts with DOE’s requirements, they
suggested that FTC allow manufacturers
to delay activation of the Web site
address submitted to CCMS for a certain
time period after submittal (e.g., seven
days after certification) so that
manufacturers would not need to post
labels prior to DOE certification.
Other industry commenters offered
qualified support for the proposal. For
instance, though backing the proposal
generally, AHRI and Goodman
recommended the Rule allow
manufacturers to submit links to a PDF
download of the labels, in addition to a
URL. AHRI already maintains an online
database as part of its own directory,
which generates label PDFs for public
users but not a URL link. According to
AHRI, given this current arrangement, a
mandatory URL link requirement would
be costly and burdensome. Therefore,
AHRI recommended the amendments
allow manufacturers to submit a link to
a PDF download to CCMS. AHRI
explained that this would provide the
same information as a URL, without
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significant additional costs and
maintenance.16
Some commenters suggested that the
Commission allow manufacturers to
provide a link to a general Web site
containing their labels, instead of
submitting links to individual labels.
Lochinvar, a water heater manufacturer,
argued this would give manufacturers
flexibility in generating and maintaining
the online EnergyGuide labels.
Although Whirlpool opposed the
proposal, it suggested the FTC give
manufacturers more flexibility should it
finalize the proposed reporting
requirements. Specifically, it suggested
the Rule allow manufacturers to submit
a link to the manufacturer’s online
public database housing all
EnergyGuide labels, searchable by
model number. According to Whirlpool,
consumers and retailers could then
access the label by copying the model
number from the CCMS into the
manufacturer’s site. This approach
would also provide consumers and
retailers access to additional
information, such as installation
instructions, use and care guides, and
product dimensions. Whirlpool also
recommended that FTC grandfather
existing models currently in the CCMS
to avoid the many hours necessary for
manufacturers to retrieve EnergyGuide
labels for thousands of models already
in commerce.
Discussion: The final amendments
require manufacturers to provide links
to their online labels as part of the
Rule’s reporting requirements.
Consistent with the other reporting
provisions, the final amendment allows
manufacturers to submit the links to
DOE’s CCMS as part of their normal
FTC reporting. The new requirement
will become effective in one year. After
that date, manufacturers must begin
submitting the required label links as
part of all new model and annual
reports required under section 305.8.
The final Rule contains several
changes and clarifications to address
commenters’ concerns. First, the
amendments allow manufacturers to
submit their links when they certify
their models to DOE or at the next
subsequent annual report date. This
eliminates concerns about posting labels
prior to DOE certification and will
ensure that labels are available online
16 AHRI also requested that section 305.6, which
requires manufacturers to maintain labels on a
publicly accessible Web site ‘‘for six months after
production of that model ceases,’’ be revised to
clarify that manufacturers may maintain labels
online more than six months after production for
a particular model ceases.
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within a reasonable time period.17
Second, the final Rule provides
manufacturers three options for
submitting label information: (1)
Through direct URL links to the labels
themselves; (2) through links to a PDF
download; or (3) through a link to a Web
site from which users can obtain labels
by searching through model number. If
manufacturers use the third approach,
the link must take the user directly to
the search function on the
manufacturer’s Web site. These three
options strike a balance between
ensuring the labels are available from a
central location and giving
manufacturers flexibility in managing
their own Web sites.
Contrary to one suggestion, the final
Rule does not grandfather existing
labels. Because some models remain in
production for many years, the
requested exemption would
permanently exclude long-lived models
from the database. However, to ensure
manufacturers have ample time to
comply, the final Rule will not become
effective for one year after publication.
Accordingly, manufacturers must begin
submitting label links for existing
models at the first applicable annual
reporting date (see section 305.8)
following this one-year period.
The final amendments do not include
lighting products in the reporting
requirements. Current law prohibits
DOE from spending funds for the
enforcement of DOE efficiency
standards related to several types of
light bulbs, including many currently
subject to FTC labeling requirements.18
Therefore, to avoid potential DOE issues
related to this prohibition, the
Commission has not included lighting
products in the new reporting
requirement. It may revisit this issue at
a later date should circumstances
warrant.
Finally, the commenters questioned
DOE and FTC authority to collect
information on DOE’s Web site without
a separate DOE rulemaking. The
Commission has identified no legal
impediment to such an arrangement. As
previously noted, the FTC is issuing the
label image reporting requirements
pursuant to its authority under EPCA.
The final Rule does not impose separate
DOE requirements and, therefore, DOE
need not issue its own rule. In addition,
these new FTC requirements are
consistent with existing FTC reporting
provisions, which apply both to
17 For models no longer in production,
manufacturers may maintain labels online for
longer than the six-month period identified in the
Rule.
18 See Consolidated Appropriations Act, 2016,
Pub. L. 114–113 (Div. D, Title III, Sec. 312).
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products also covered by DOE’s
reporting requirements, as well as
products DOE does not cover (i.e.,
televisions and ceiling fans). In issuing
its own reporting requirements under
section 305.8, the FTC has allowed
manufacturers to submit data through
DOE’s existing online database to avoid
duplication and complication.19 The
final language clarifies that the
amendments do not ‘‘merge’’ the two
agencies’ reporting requirements.
Specifically, the final Rule language
appears in section 305.8 (‘‘Submission
of Data’’) rather than section 305.6
(‘‘Duty to provide labels on Web sites’’),
and states that manufacturers may
submit the information to DOE via
CCMS in lieu of submitting it to the
Commission.
B. Improved Ceiling Fan Labels
Background: In the 2015 NPRM, the
Commission proposed revising the
ceiling fan label to include estimated
annual energy cost information as the
label’s primary disclosure and to
otherwise ensure the label is consistent
with other EnergyGuide labels. The
current label, which appears on product
boxes and bears the title ‘‘Energy
Information,’’ discloses airflow (cubic
feet per minute), energy use (watts), and
energy efficiency (cubic feet per minute
per watt) at high speed. However, as the
Commission previously stated,
consumer research suggests energy cost
information is the most useful metric
because it ‘‘provides a clear,
understandable tool to allow consumers
to compare the energy performance of
different models.’’ 20 The label proposed
in the 2015 NPRM follows the
EnergyGuide label format, consistent
with other products displayed in
showrooms, such as refrigerators and
clothes washers.21
19 Prior to 2013, FTC collected energy data on
covered products separate from DOE through paper
and email submissions to the Commission itself.
This arrangement required manufacturers to submit
nearly duplicative reports to DOE and FTC.
However, in 2013 (78 FR 2200), the Commission
streamlined and harmonized the reporting
requirements by giving manufacturers the option to
report FTC-required data through DOE’s CCMS, in
lieu of the traditional practice of submitting directly
to FTC. The present amendments follow the same
approach.
20 72 FR 49948, 49951, 49953 (Aug. 29, 2007)
(appliance labels) (‘‘The FTC’s consumer research
clearly indicates that cost information is likely to
assist consumers in making purchasing decisions.
While each of the designs considered has strengths
and weaknesses, on balance, the Commission
believed that the adoption of a design that presents
cost as the primary disclosure would best serve
consumers.’’); see also 75 FR 41696 (July 19, 2010)
(light bulb labels); 76 FR 1038 (Jan. 6, 2011)
(television labels).
21 80 FR 67351.
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In seeking comments on the label
change, the Commission noted that DOE
is in the process of changing test
procedures and developing new
efficiency standards for ceiling fans.22
As part of the test procedure
proceeding, DOE is revising various
factors essential to the label, including
the representative hours of operation, a
representative or average testing speed,
and a revised product scope covered by
the test procedure.23 In the 2015 NPRM,
the Commission announced it would
wait for DOE to complete its test
procedure changes before finalizing the
label. To ensure consistency with the
DOE testing requirements, the
Commission proposed to adopt final
DOE use and operating assumptions for
the amended label, including the hours
of operation, the representative or
average speed, and the revised product
coverage.24 The Commission indicated
it would allow a two-year compliance
period for the new label, once DOE
issues its final Rule.25
Comments: Commenters generally
supported the proposal. For example,
the Joint Commenters noted that the
two-year compliance period was
consistent with the compliance period
afforded to manufacturers for the
original ceiling fan label issued in 2007
and that ceiling fan packaging already
allocates space to FTC labels. However,
some commenters raised logistical and
implementation issues with the
proposal. First, industry commenters
urged the Commission to coordinate the
timing of new labels with DOE efforts to
revise the test procedure and set
efficiency standards. ALA emphasized
that manufacturers will need time to
review the new requirements, develop
and test products, and prepare new
packaging with the revised labels. It
agreed that a two-year compliance
period is reasonable but encouraged the
Commission to consider delaying
enforcement action for an additional 18
months to allow for the resolution of
22 See 79 FR 62522 (Oct. 17, 2014) (proposed test
procedure); 79 FR 58290 (Sept. 29, 2014) (proposed
standards).
23 DOE issued a supplemental notice for the test
procedure on June 3, 2015 (80 FR 31487).
24 See, e.g., 79 FR 62521.
25 In its test procedure Notice (79 FR at 62524
(Oct. 17, 2014)), DOE proposed a special testing
approach for ‘‘multi-mount’’ fan models under the
Rule’s coverage. Such models can be installed in
two configurations: extended from the ceiling or
flush with the ceiling (i.e., a ‘‘hugger’’
configuration). DOE proposed to require testing for
these models at two separate configurations. Should
DOE adopt such an approach, the Commission, in
its 2015 Notice, proposed that the EnergyGuide
label for these models would reflect the lowest
efficiency (cubic feet per watt) configuration, with
the option of providing a second label depicting the
performance at the other configuration.
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unforeseen problems. Second, ALA
raised concerns with the label’s color
because some manufacturers do not use
color in printing their packages. It
warned that a mandatory yellow
background would significantly increase
costs in some cases. To address this
concern, ALA recommended the Rule
allow a white background when a
product package does not contain color.
Also, given the small sizes of some fan
packaging, it urged the Commission to
ensure that the new label is no larger
than the existing label.
Discussion: The Commission has
revised the ceiling fan label consistent
with its proposal. The final label’s
content includes new information to
reflect the content of DOE’s new test
procedure published July 25, 2016.26
Such updates include DOE’s new
definition of ‘‘ceiling fan,’’ energy
information based on the new DOEmandated average fan speed, as well as
the DOE-established hours of operation
per day (6.4). The new label also
contains comparability information
based on DOE data for the products
covered by the test procedure.27
In response to some commenter
concerns, the final Rule does not
mandate a yellow background.
Specifically, it indicates that the label
must be printed on a yellow or other
neutral contrasting background. This
approach, also used for the Lighting
Facts label, avoids imposing increased
compliance costs.
Additionally, the final Rule requires
manufacturers to begin labeling their
packaging with the new label within
two years of the final Rule’s publication.
Manufacturers may begin using the new
label earlier, as soon as they complete
testing under the new DOE test
procedure.
Finally, the final label does not apply
to large-diameter fans (i.e., fans with
diameters of 84 inches or greater) and
high-speed small diameter fans, new fan
categories added by DOE’s test
proceeding. The DOE test procedure
mandates unique operating assumptions
(hours per day) for these particular
26 See
81 FR 48620.
consistent with the current label,
the label amendments maintain two basic size
categories for labeling purposes. The amendments
adjust these two bins to reflect new size categories
established by DOE: (1) Fans less than 19 inches in
diameter; and (2) fans from 19 or more inches and
less than 84 inches in diameter. The Rule does not
create separate comparability categories for niche
product types recognized by DOE such as ‘‘highlydecorative,’’ belt-driven, and hugger fans, as such
separate bins do not appear necessary to aid
consumers in comparing products. The final
amendments also contain conforming changes to
the reporting requirements in section 305.8,
removing the term ‘‘at high speed’’ to ensure
consistency with the new DOE test procedure.
27 Specifically,
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models. As a result, labels for these two
groups of fans may not offer accurate
comparisons to more conventional fans.
The Commission will seek comment on
the need for, and content of, fan labels
for those two product categories in a
separate notice.
C. Consolidated Refrigerator Ranges
Background: Based on comments
suggesting that a substantial number of
consumers consider several different
configurations when shopping, the 2015
NPRM proposed requiring disclosure of
two cost ranges on the refrigerator label:
One range for the existing applicable
refrigerator configuration (e.g., side-byside door configuration) and the other
range covering all refrigerators. The
Commission previously explained that
providing cost information for all
refrigerators consolidated into a single
range would facilitate comparison
shopping and alert consumers to the
relative energy efficiency of various
refrigerator types.28 Consistent with the
current Rule, both range groups under
the 2015 proposal would include
separate ranges organized by capacity.
The current Rule organizes
refrigerator comparability ranges by
configuration (e.g., models with topmounted freezers), designating eight
separate categories for refrigerators and
three for freezers.29 Five of those
categories (or styles) apply to automaticdefrost refrigerator-freezers, which
populate the bulk of showroom floors:
Side-by-side door models with and
without through-the-door ice service;
top-mounted freezer models with and
without through-the-door ice service;
and bottom-mounted freezer models.30
The comparability ranges, which
disclose the energy costs of the most
and least efficient model in each
category, allow consumers to easily
compare the energy use of similarly
configured units.
In the 2015 NPRM, the Commission
explained that information submitted in
earlier comments suggested that a
substantial number of consumers
consider models with different features
when shopping.31 However, as
explained in previous comments, not all
shoppers do so. The proposal addressed
both contingencies by allowing
28 79
FR at 34651.
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.
30 See 16 CFR part 305, Appendices A and B. The
Rule also has other range categories for less
common models, including those with manual and
partial defrost, and refrigerator-only models. In
addition, the freezer categories include upright
models with automatic defrost, upright models with
manual defrost, and chest freezers.
31 80 FR at 67354–5.
29 The
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consumers to compare the labeled
product to similar models as well as to
all other refrigerators. The proposal also
maintained the three freezer categories:
Upright manual defrost models
(Appendix B1), upright automatic
defrost models (Appendix B2), and
chest freezers (Appendix B3) because
there is no evidence that consumers
typically shop for models across these
categories.
Additionally, the Commission
proposed updated ranges based on new
model data from the DOE database,
including a new range reflecting
consolidated range data for all
refrigerators. Before issuing final
refrigerator ranges, the Commission
indicated that it would consider
updating the numbers based on the most
recent data. It also proposed to amend
the range tables to cover bottommounted freezers with through-the-door
ice, a popular product subcategory
currently not covered by the various
tables. To accomplish this, the proposed
amendments redesignate Appendix A7,
which currently covers an obsolete
category (top-mounted freezer with
through-the-door ice models). In
addition, the proposal modifies the size
categories in each table to ensure
consistency in all the ranges across all
sizes.32
Comments: The commenters sharply
split on the proposed refrigerator label.
The Joint Commenters and the
California IOUs supported the proposal,
while AHAM, representing appliance
manufacturers, opposed it. The
supporters argued the Commission’s
proposal represents a reasonable
compromise between the various
available options. They explained that,
while some shoppers are committed to
models with particular features, others
are more flexible and willing to trade off
those features for reduced utility bills.
The Joint Commenters also asserted the
two comparison ranges on the proposed
label were unlikely to confuse
consumers. They noted that the
EnergyGuide labels for heat pumps
already feature two comparability
ranges and have done so for nearly 30
years and that the label ‘‘clearly
indicates what each range bar depicts.’’
The California IOUs argued the
proposed label would continue to help
customers understand a unit’s energy
cost relative to similarly configured
products, particularly since many
customers continue to shop for
configurations matching their current
32 The Commission also proposed to eliminate an
obsolete reference to adjusted volume for
refrigerators and freezers in the Rule’s capacity
section (section 305.7(a)(b)).
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model. These commenters further
indicated that the second range
displaying the unit’s energy cost relative
to a broader array of models serves to
educate consumers about their potential
buying choices, and contributes to a
more informed decision-making
process.
While they supported the overall
proposal, the Joint Commenters urged
the FTC to break the ‘‘All Models’’ range
into three separate categories:
Automatic defrost refrigerator-freezers,
manual or partial automatic defrost
refrigerators and refrigerator-freezers,
and refrigerators with automatic defrost
but no freezer. They noted that
consumers do not frequently shop for
refrigerator-only models (i.e.,
refrigerators with no freezer). In their
view, some consumers may be
disappointed to discover some of the
high efficiency models reflected on the
range have no freezer. According to the
commenters, such a result could
undermine consumer trust in
EnergyGuide’s comparison ranges for
other products.
In contrast, AHAM opposed a
consolidated range for the refrigerator
label. Specifically, AHAM questioned
the data supporting such a change. In
particular, it argued that a study of
EarthJustice members submitted in
earlier comments surveyed biased
respondents who may better understand
energy consumption than the average
consumer. In addition, AHAM stated
that FTC has not demonstrated that
consumers will understand the
proposed label or that the consolidated
range will assist their purchasing
decisions. However, should FTC decide
to move forward with changes, AHAM
expressed a preference for the hybrid
approach in the 2015 NPRM that
includes two groups of ranges organized
by both model subcategory and the
consolidated range. AHAM stated this
approach would preserve the
opportunity for consumers to compare
products of similar configuration and
features. AHAM also suggested that FTC
change the term ‘‘All Models’’ to
indicate that the range depicts ‘‘all
models of similar capacity’’ to avoid
misleading consumers. It also asked the
FTC to consider altering the current
label to reduce the black ink required.
According to AHAM, the ink required
for this label increases drying times and
printer jams. Finally, AHAM and
Whirlpool urged the Commission to give
manufacturers between six months and
a year to implement the refrigerator
changes to complete the many necessary
activities for this change, including
designing and contracting for the new
labels, updating Web sites and
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certification reports, and coordinating
between OEMs and private labelers.
Discussion: The Commission has
amended the refrigerator labels as
proposed and updated the
comparability ranges. The revised label
will likely help consumers shop among
models by providing two types of
comparative information, allowing
consumers to compare the labeled
product to similar models as well as to
all other refrigerators. This hybrid
approach reflects the likelihood that,
while not all shoppers consider
different configurations, a significant
number do. The final Rule gives
manufacturers nine months to
implement the revised label. In response
to commenter concerns over the black
ink required for the label, the FTC staff
will update the online label template for
refrigerators and clothes washers to
modify the black background to reduce
the amount of ink consumed in printing
the labels.33
The new label should aid consumers
in their shopping decisions. Information
provided by commenters strongly
suggests that a substantial number of
consumers consider models with
different features when shopping. The
Commission agrees with AHAM that the
email survey submitted by the Joint
Commenters does not offer compelling
evidence because it involved a selfselected population of respondents.
However, other information in the
record suggests that a significant
number of consumers consider different
model configurations when shopping.
For example, according to earlier
comments, 40% of the visitors to
Consumer Reports’ online refrigerator
ratings in 2012 reviewed multiple
refrigerator-freezer configurations.34 In
addition, AHAM offered data indicating
that only 46% of side-by-side
refrigerator-freezer owners and 85% of
top mount refrigerator-freezer owners
replaced their units with the same
33 See https://www.ftc.gov/tips-advice/businesscenter/guidance/energyguide-labels-templatesmanufacturers. In addition, manufacturers that do
not use the FTC-provided templates may alter the
black ink mix for their printers to reduce potential
malfunctions.
34 79 FR at 34651. The Joint Commenters also
reasoned that those who examined only one
configuration probably considered models with,
and without, through-the-door ice dispensers, and
may have looked at an additional configuration on
a subsequent visit. In addition, the Joint
Commenters pointed to AHAM information
demonstrating that more than half of side-by-side
refrigerator-freezer owners buy replacement units
with a different configuration. The commenters
contended that this was probably a conservative
estimate because it does not include owners who
bought similarly configured replacement units with
different features.
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configuration.35 These numbers strongly
suggest that a substantial proportion of
consumers, though not all, consider
different configurations. Other indicia of
consumer shopping habits corroborate
this conclusion. Specifically, online
refrigerator buying guides routinely
advise consumers about considering
different configurations. The content of
such sites confirm that consumer
preferences for configuration are not
pre-determined.36 The new label will
help both consumers who consider
different configurations, and those who
do not.
The Commission agrees with the Joint
Commenters that the label change is
unlikely to confuse consumers. The
modification represents a relatively
small addition to an existing element of
the label’s content; the primary focus of
the label continues to be the cost of
energy measured in dollars. In addition,
the new label clearly identifies the two
comparability ranges, as noted by the
Joint Commenters, and provides
additional information about those
ranges in explanatory text. Accordingly,
the Commission expects the two ranges
will help improve consumer
understanding of the trade-offs involved
choosing a refrigerator. Although the
Commission recognizes AHAM’s
concern about consumer understanding
of the label, commenters did not
provide evidence of confusion or of a
more effective means of presenting this
information. Nevertheless, to minimize
potential concerns, the staff plans to
prepare educational material about the
label change.
The final Rule does not exclude
certain refrigerators (i.e., refrigeratorfreezer models without automatic
defrost and refrigerator-only models
covered by Appendices A1 through A3)
from the ‘‘All Models’’ range, as
suggested by some commenters. The
new range tables, which have been
updated in the final rule based on more
recent DOE data, do not reveal large
differences between these models and
the more common automatic defrost
models covered by Appendices A4
through A7.37 In addition, excluding
35 AHAM comments (July 16, 2012) (#560957–
00023).
36 See, e.g., CNET (https://www.cnet.com/topics/
refrigerators/buying-guide), Consumer Reports
(https://www.consumerreports.org/cro/magazinearchive/2011/july/appliances/refrigerators/types/
index.htm), Consumersearch (https://
www.consumersearch.com/refrigerators/how-tobuy-a-refrigerator); and Good Housekeeping (https://
www.goodhousekeeping.com/appliances/
refrigerator-reviews/a18621/refrigerator-buyersguide/).
37 The DOE data indicate that models from
Appendices A1, A2, and A3 are available in seven
of the eleven size categories. There are few models
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these models from the comparability
categories would require additional
explanatory text and clutter the label
with only a marginal benefit. Similarly,
the revised label does not disclose on
the range itself that the range applies to
similarly sized models. Consistent with
past versions of the label, such language
appears on the lower part of the label.38
Including additional information about
‘‘similarly-sized models’’ would add
text and crowd the label potentially
affecting usability.39
D. Dual Mode Refrigerator-Freezers
The final Rule contains an
amendment related to dual mode
refrigerator-freezers. In the NPRM, the
Commission proposed adding a new
provision addressing covered
refrigerator models that can operate
either as a refrigerator or a freezer under
the DOE rules, depending on user
settings. In 2014, DOE announced that
these convertible models must be tested
and certified to meet efficiency
standards applicable to both
refrigerators and freezers.40 AHAM
sought clarification on labeling these
products, suggesting that, consistent
with manufacturers’ labeling practices,
convertible products be labeled with the
most energy intensive configuration. In
the 2015 NPRM, the Commission agreed
with this approach because it ensured
that labels for these products do not
underestimate a product’s energy cost.
Therefore, the proposed Rule stated that
these products should be labeled with
the most energy intensive
configuration.41 In response to the 2015
NPRM, AHAM supported the
Commission’s proposal, and no other
commenters addressed the issue.
Accordingly, the final Rule includes the
proposed amendments for the dual
mode refrigerator-freezers.
from Appendix A1 through A3 at the higher
capacity categories. In addition, for those seven size
categories that do contain models from A1, A2, and
A3, the estimated annual energy cost difference
between the highest efficiency models in A1–A3
and those in A4–A8 is about $7 on average.
38 In the past, the range has simply stated ‘‘Cost
Range of Similar Models.’’
39 Finally, GEA requested that the FTC update the
capacity disclosure on the sample refrigerator label
so that it conveys capacity to the nearest tenth,
consistent with the Rule at section 305.7. GEA also
request a clarification that the product attributes
(e.g., bottom-mount freezer) included on labels
match those described in the Rule at Appendix L.
According to GEA, some manufacturers place
additional product descriptors on their labels not
identified in the Rule. The amendments address
these two issues.
40 79 FR 22320 (Apr. 21, 2014). The amendments
also contain a minor correction to the metric
conversions for label sizes in section 305.11(a).
41 80 FR at 67356.
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63639
E. Heating and Cooling Equipment Label
Requirements
Background: In the 2015 NPRM, the
Commission proposed several
amendments to the heating and cooling
equipment label requirements,
including label changes related to
upcoming DOE enforcement
requirements for regional standards,
labels for rooftop furnace-air
conditioner systems, manufacturer
name disclosures, multiple model
number disclosures, and a clarification
to retailer disclosure requirements. The
Commission discusses each of these
issues below.
Revised Central Air Conditioner
Labels Regarding Regional Standards:
The Commission proposed several
changes to the central air conditioner
label in response to changes in DOE
enforcement requirements regarding
regional standards. The current
EnergyGuide labels for these products
provide industry members and
consumers with information about
regional efficiency standards issued by
DOE in 2011.42 These DOE requirements
impose regional efficiency standards for
split-system air conditioners and singlepackage air conditioners. For all other
covered heating and cooling equipment
(e.g., furnaces and boilers), the updated
standards remain nationally uniform.
Since publication of the regional
standards related-labels in 2013, the
Commission has issued several notices
updating ranges and labels to reflect a
court-approved settlement that vacated
DOE’s regional standards for furnaces.43
During the fall of 2014, DOE
conducted a negotiated rulemaking to
establish enforcement rules for current
regional standards applicable to central
air conditioners.44 The current
standards set a minimum 14.0 Seasonal
Energy Efficiency Ratio (SEER) for the
southern and southwestern regions, a
13.0 SEER for all other areas, and
separate Energy Efficiency Rating (EER)
levels for the southwest region. For a
particular condenser model, efficiency
ratings vary (e.g., 13.0 to 14.2 SEER)
depending on the condenser-coil
combination installed in the consumer’s
home. Because such variability
complicates efforts to enforce the
42 78
FR 8362 (Feb. 6, 2013).
79 FR 46985 (Aug. 12, 2014); 79 FR 52549
(Sept. 4, 2014); 79 FR 77868 (Dec. 29, 2014). On
April 24, 2014, the Court of Appeals for the D.C.
Circuit approved a settlement in the DOE litigation,
which vacates and remands DOE’s regional
standards for non-weatherized natural gas and
mobile home furnaces and sets a two-year timetable
for DOE to propose new standards. American Public
Gas Ass’n v. DOE, No. 11–1485 (D.C. Cir. filed Dec.
23, 2011) (DE.#1433580, May 1, 2013).
44 See, e.g., 79 FR 45731 (Aug. 6, 2014).
43 See
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regional standards, the consensus
recommendation from the negotiated
rulemaking advised DOE to determine
regional compliance based on the
condenser’s lowest certified rating
alone, not on the system rating (i.e., the
specific condenser-coil combination)
installed in a consumer’s home.45 For
instance, if a condenser’s efficiency
rating ranges from 13.0 to 14.2 SEER
(depending on the coil ultimately
matched with it), the rating will be 13.0
SEER for regional standards compliance,
regardless of the coil with which it is
ultimately installed. This recommended
approach to DOE’s enforcement would
require revising the EnergyGuide label
for central air conditioners because the
current label advises installers to ensure
the rating for the system they install in
a consumer’s home meets the DOE
regional standards.
To conform the FTC label to this
proposed DOE enforcement framework,
the Commission proposed new labels
for split-system central air conditioners
that simply identify the states in which
the labeled model may be installed.46
Specifically, the FTC proposed three
types of labels for split systems. First,
labels for models that may be installed
anywhere (i.e., those that meet all
applicable SEER and EER thresholds)
would contain the statement: ‘‘Notice:
Federal law allows this unit to be
installed in all U.S. states and
territories.’’ Second, labels for models
that do not meet the 14.0 SEER
threshold for southern states and
southwestern states would contain a
map identifying the states in which the
unit may be legally installed. For
instance, a model with a minimum rated
efficiency of 13.8 SEER would contain
a map indicating that that model can be
legally installed only in northern states
along with a statement that ‘‘Federal law
prohibits installation of this unit in
other states.’’ Finally, labels for a model
with a minimum 14.0 SEER rating that
does not meet EER minimum ratings for
the southwest region would contain a
map indicating that it can be legally
installed only in northern and southern
states (excluding southwestern states),
as well as a statement that installation
elsewhere is prohibited. These new
label disclosures would simplify
compliance by eliminating the need for
45 See
‘‘2014–10–24 Presentation Hand Out:
Regional Standards Enforcement Working Group,
Enforcement Plan,’’ Oct. 24, 2014, Energy Efficiency
and Renewable Energy Office, Department of
Energy, https://www.regulations.gov/
#!documentDetail;D=EERE-2011-BT-CE-0077-0070.
46 Such an approach is consistent with the current
regional standards labels for single package units.
See, e.g., 78 FR at 8384 (sample label).
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installers to compare specific system
ratings against the DOE standards.
In addition, consistent with the
approach recommended by the DOE
working group, the proposed label
disclosed only the efficiency rating for
lowest rated coil-condenser
combination (e.g., 14.4 SEER) in lieu of
the current label’s approach, which
depicts a ‘‘mini-range’’ of the high and
low values associated with the labeled
model’s various certified condenser-coil
combinations (e.g., 13.9–15.0 SEER).
The range of ratings on the current label
alerts installers and consumers that a
model’s compliance with regional
standards could vary depending on the
installed coil-condenser combination.
However, given the enforcement
approach developed during DOE’s
negotiated rulemaking, such
information is no longer necessary. A
single, minimum efficiency rating will
provide a simpler, more direct way to
communicate the model’s performance.
If a system, as actually installed, has a
higher efficiency rating than the
minimum rating displayed on the label,
that installer may communicate that fact
to consumers.
Rooftop Systems: The Commission
also proposed amending section 305.12
to allow a single label for packaged
rooftop systems, a relatively new
product consisting of a combination gas
furnace and air conditioner (or heat
pump). The proposed label would
reflect the ratings for furnace and air
conditioner (or heat pump)
combinations as long as the unit meets
all applicable air conditioner regional
standards. For models that do not meet
these standards, manufacturers would
have to use two labels because a single
label would not have space to
accommodate all necessary disclosures
(e.g., the annual fuel utilization
efficiency (AFUE), SEER, and regional
standards map).
Manufacturer Name: In the NPRM,
the Commission sought comments on
the label’s disclosure of the
manufacturer (or private labeler) name.
In 2013, the FTC amended the heating
and cooling equipment labels to require
the manufacturer or private labeler’s
name. This change occurred as part of
the larger effort to create new labels
consistent with new DOE regional
efficiency standards.47 However, the
47 See 78 FR 8362 (Feb. 6, 2013). Though the
proposed Rule language in 2012 contained this
change (77 FR 33337 (June 6, 2012)), the Notice did
not discuss this issue. In issuing the original
labeling rule in the 1970’s, the Commission noted
that the manufacturer and private labeler name was
optional on EnergyGuide labels to ‘‘minimize the
printing burden on manufacturers who produce
covered products for private labelers. . . .’’ 44 FR
66466, 66470, 66479 (November 19, 1979).
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Rule’s current requirements for labels
on refrigerators, clothes washers, and
other appliances (section 305.11)
continue to give manufacturers or
private labelers the option to put their
names on labels. To ensure the heating
and cooling labels are consistent with
other EnergyGuide labels, the
Commission proposed to restore the
option of including the manufacturer or
private labeler name on the label. The
Commission stated that making the
manufacturer’s name optional should
not negatively impact consumers. For
instance, consumers do not need a
manufacturer or private labeler name to
use the DOE database, including the
cost calculator, because the model
number is adequate for that purpose. In
addition, because the labels are
generally affixed to the products
themselves or appear on Web sites
describing the product, consumers are
likely to already know the identity of
the equipment’s manufacturer or private
labeler.
Model Numbers: The Commission
also proposed clarifying in sections
305.12(f)(3) and (g)(3) that
manufacturers or private labelers may
print multiple model numbers on a
single label as long as the models share
the same efficiency ratings and
capacities. In the original 1979
rulemaking notice, the Commission
explained that manufacturers and
private labelers could do so; however,
associated language did not appear in
the Rule itself.48 By ensuring that all
model numbers listed in a single label
share the same capacity, as well as
efficiency rating, the proposed
clarification would ensure all model
numbers listed on a single label generate
the same cost calculations when entered
into the DOE online database.
Updating Retailer Disclosure
Requirements (§ 305.14): The
Commission also announced that it
would revise the effective date for
section 305.14’s disclosure requirements
relating to efficiency information that
furnace and air conditioner installers
must provide to customers.49 In 2013,
the Commission tied the effective date
48 See 44 FR at 66470 (‘‘a manufacturer or private
labeler may include multiple model numbers on the
label if the models have the same capacity and
consume the same amount of energy’’).
49 In 2013, as part of the regional standards label
rulemaking (78 FR 8362), the Commission updated
disclosure requirements in section 305.14 for
manufacturers and retailers, including installers.
The 2013 changes required sellers to ensure that
consumers have pre-purchase access to the
EnergyGuide labels for heating and cooling
equipment. Previously, the Rule required sellers to
disclose a list of information contained on the
labels. The updated Rule simplified the disclosure
by requiring retailers to provide access to the labels
themselves.
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for the new provision to the compliance
date for DOE regional furnace standards.
However, because those DOE standards
were subsequently vacated,50 the
Commission must set a new effective
date. Accordingly, the Commission
proposed to update that provision to
clarify that the 2013 amendment now
applies.
Comments: Regional Standards
Information: The commenters generally
supported the proposed revisions to the
central air conditioner labels. AHRI
explained that the state-specific
information on the bottom of the
proposed label is needed to clarify
where a specific model may be sold.
The Joint Commenters and the
California IOUs emphasized that the
label provides an important regional
standards compliance tool. They also
explained that the proposed changes
accurately reflect the consensus
recommendations of the DOE working
group (Appliance Standards and
Rulemaking Federal Advisory
Committee (ASRAC)) convened to
negotiate compliance and enforcement
implementation for those standards.51
However, in addition to generally
supporting the proposed label, the
commenters raised several specific
issues related to the proposal, including
concerns about the SEER ratings for
models, comparability ranges for the
label, and the timing of the revised
label. We discuss these comments
below.
While the commenters generally
supported the proposal, they disagreed
on how the label should present a
model’s specific SEER rating. Industry
members opposed the proposal to
eliminate the model-specific SEER and
EER ranges (‘‘mini-ranges’’) for splitsystem air conditioners. For example,
Goodman explained that this current
information, which the Commission
only recently added to the label, is
essential to fully inform consumers
about the range of available efficiencies.
In Goodman and AHRI’s view, the
proposed single rating approach, which
depicts the lowest efficiency rating of all
certified coil-condenser combinations
for the unit, would mislead some
consumers who purchase systems with
much higher ratings. AHRI further
contended that the model-specific range
50 See
77 FR at 77868. American Public Gas Ass’n
v. DOE, No. 11–1485 (D.C. Cir. filed Dec. 23, 2011)
(DE.#1433580, May 1, 2013); (DE.# 1489805, Apr.
24, 2014).
51 In addition, the California IOUs urged the FTC
to continue to include the EER rating, along with
SEER, on the label for central air conditioners
because, in their view, EER is a more beneficial
annual energy use metric for consumers, especially
as utilities move towards peak day pricing.
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information is helpful because it clearly
displays comparable efficiencies and its
removal would unnecessarily burden
manufacturers.
The California IOUs noted that the
ASRAC working group, which included
industry representation, advised DOE to
determine the ‘‘regional compliance
based on the condenser’s lowest
certified rating alone, not on the system
rating as installed in the home.’’ Thus,
according to the California IOUs, the
working group consensus was to
disclose ‘‘only the efficiency rating for
the lowest rated coil-condenser
combination’’ and eliminate the current
model-specific range.52
Some commenters also suggested
changing the label’s comparability range
for similar models on the market. AHRI,
for example, requested that, for split
system units covered by the range table
in Appendix H, the low end of the range
should be 13 SEER on labels for models
allowed in northern states only, and 14
SEER for the two other label types
described in the proposal. The current
table has a low SEER of 13 for all units.
By removing the 13 SEER from the
range’s lower end for products sold in
southern states, the recommended
change would eliminate confusion
regarding the regional standards.
Finally, the commenters addressed
the timing of the labeling changes for
central air conditioners. Goodman urged
the Commission to give manufacturers
the maximum lead time possible to
make the proposed changes. In its view,
a longer lead time will allow industry to
make the necessary changes while
simultaneously conducting product
redesigns to meet many new federal
energy conservation standards.
Specifically, Goodman asked for six
months and the issuance of a prepublication final rule to allow
manufacturers to make the necessary
changes.
Roof-Top Systems, Manufacturer
Names on Labels, Model Numbers, and
Retailer Disclosures: The commenters
also addressed the Commission’s
proposals related to manufacturer
names on the labels, model numbers,
combined roof-top systems, and retailer
disclosures.
First, the commenters disagreed on
the proposal to give manufacturers
52 The Joint Commenters recommended that
outdoor units be marked with a ‘‘ruggedized label’’
on or near the nameplate, indicating in what
regions of the country, if any, installation of the
unit is prohibited. The Joint Commenters argued
this approach, agreed upon by the DOE working
group, would aid in detecting non-compliant units.
Because not all manufacturers certify their products
through AHRI, the Joint Commenters asserted that
a separate FTC requirement would ensure a level
playing field.
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flexibility in whether to place their
name on the label. Industry members
supported this proposal. The Joint
Commenters, however, argued the Rule
should require the label to bear the
manufacturer name. In their view, the
name aids consumers in their purchases
because many do not see the heating
and cooling equipment (and thus the
unit’s nameplate) until it is installed in
their home. In addition, they argued
that, though many retailers, installers,
and assemblers deal exclusively with a
single manufacturer or private labeler,
that is not always the case.
Second, the commenters, such as
AHRI, generally supported the proposal
to allow central air conditioner
manufacturers to print multiple model
numbers on a single label as long as the
models share the same efficiency ratings
and capacities. However, the Joint
Commenters urged the FTC to consider
establishing a maximum limit, either on
the number of different model numbers
or the amount of space consumed by
such numbers, to ensure the label’s
legibility.
Third, commenters (e.g., Goodman
and AHRI) supported the proposal to
allow a single label on rooftop units to
reflect energy usage for furnace and ACs
or HPs for single-packaged air
conditioners less than 65,000 Btu/h
with gas heat. No commenters opposed
the proposal.
Finally, no commenters opposed the
proposal to clarify the retailer disclosure
provisions in § 305.14.
Discussion: Regional Standards Label
for Central Air Conditioners. The
Commission issues the final labels as
proposed, including the three proposed
label categories related to regional
standards, but without the ‘‘mini-range’’
for split-system units.53 In addition, as
suggested by AHRI, the final central air
conditioner label has a different SEER
range for products that qualify for
different regions. Specifically, for
products that can be sold only in
northern states, the low end of the range
is 13 SEER. For other products, the low
end is 14 SEER. This change will
minimize confusion by eliminating
comparative information related to
models that may not be available for
sale in certain regions due to the DOE
standards. The Rule requires
manufacturers to begin using the revised
label nine months after the Commission
publishes the amendments.
Consistent with the proposal and
contrary to AHRI’s recommendation, the
final label includes the lowest SEER
rating associated with the labeled model
53 DOE issued final enforcement rules for regional
standards on July 14, 2016 (81 FR 45387).
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but not the model-specific range of
ratings. As noted by some commenters,
this simplified disclosure is consistent
with the ASRAC discussions and
recommendations. In addition, in
initially issuing labels related to
regional standards several years ago, the
Commission included the installed
range for individual systems to help
installers and consumers determine
whether an installed system met
applicable regional standards. The
Commission predicated the disclosure
on the assumption that the regional
standards would apply to the system’s
installed efficiency rating. However,
that assumption no longer applies
because DOE plans to enforce the
regional standards based on the lowest
rated efficiency rating, rather than the
rating of the systems as installed.
Accordingly, the ‘‘mini-range’’ on the
current label is no longer necessary. The
single number will make it easier for
installers to determine regional
compliance.54 Also, with the single
number, there is no risk that the label
will mislead consumers into believing
their installed system’s efficiency is
higher than it actually is. Finally,
installers will have a clear incentive to
inform consumers about higher
efficiency combinations.
Roof-Top Systems, Manufacturer
Names on Labels, Model Numbers, and
Updates to Retailer Disclosures: Finally,
the final amendments contain
provisions related to combined roof-top
systems, manufacturer names on the
labels, model numbers, and retailer
disclosures.
First, the final amendments allow a
single label to reflect energy usage for
‘‘rooftop systems’’ (i.e., furnace and ACs
or HPs for single-packaged air
conditioners less than 65,000 Btu/h
with gas heat) to reduce the burden and
clutter associated with using two
separate labels for these products.
Second, the amendments allow
manufacturers to include their name on
the label at their discretion, which is, as
discussed above, consistent with labels
for most other covered products. For the
reasons detailed in the proposed Rule,
these products are routinely sold
through contractors in consumers’
homes. Therefore, the absence of the
manufacturer’s name on the label
should not confuse consumers.
Third, the final Rule allows multiple
model numbers to appear on labels for
models that share the same capacity and
efficiency ratings. To reduce the
54 The 2015 NPRM did not discuss conforming
changes to the heat pump labels. Since these
products are not subject to DOE’s regional
standards, the final amendments do not change
those labels.
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likelihood that labels will become
crowded with model numbers, the final
Rule advises that numbers must be clear
and prominent. The Rule has allowed
multiple model numbers on appliance
labels for decades with no apparent
problem.55 Should the inclusion of
multiple model numbers on labels
become an issue, the Commission will
consider more prescriptive requirements
in the future.56
Finally, the Commission has updated
the retailer disclosure provisions in
§ 305.14 to clarify that the 2013
amendments now apply.57
F. Water Heater Labels
Background: In the 2015 NPRM, the
Commission sought comment on
modifications to water heater labels in
response to a new DOE test procedure
(79 FR 40542 (July 11, 2014)).58 Among
other things, the new DOE test creates
four categories or ‘‘bins,’’ which group
models by their ‘‘first hour rating,’’
DOE’s standard measure of hot water
output for these products. The first hour
rating, which appears on current
EnergyGuide labels, displays the
number of gallons of hot water the
heater can supply in the first hour. The
four new DOE first hour rating bins are:
Very small (first hour rating less than 18
gallons), low (first hour rating between
18 and 51 gallons), medium (first hour
rating between 51 and 75 gallons), and
high (first hour rating greater than 75
gallons). In contrast, the Rule currently
groups water heater ranges by the first
hour rating in roughly five-gallon
increments (e.g., 25–29, 30–34, 35–39
gallons, etc.). The new test procedure
also establishes a new energy efficiency
metric (uniform energy factor or
‘‘UEF’’).
In anticipation of these changes, the
Commission proposed amendments to
the water heater label ranges to provide
both: (1) Tank capacity information and
(2) first hour rating information
consistent with the four new DOE
categories. Because water heaters are
commonly marketed by tank size (i.e.,
55 See
44 FR 66466 (Nov. 19, 1979).
to commenter suggestions, the final
Rule does not include a requirement for an allweather disclosure on the nameplate. Without
additional information and comment, the
Commission lacks sufficient information to do so.
It may consider such requirements at a later date.
57 78 FR 8362.
58 DOE also published a proposed rule in April
2015 related to a ‘‘conversion factor’’ for use under
the new test procedure (80 FR 20116 (April 14,
2015)). In that Notice, DOE proposed to continue to
allow manufacturers to determine costs under
existing testing requirements and thus create ‘‘a
transition period for FTC to pursue a rulemaking to
determine whether changes are needed to the water
heater EnergyGuide label due to changes in the
water heater test procedure.’’ 80 FR at 20138.
56 Contrary
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storage volume) and not first hour
rating, the Notice asked commenters
whether the Rule should group the
ranges by tank size, and then further by
first hour rating, placing the four DOE
water usage bins within such tank size
categories. In addition, the Commission
proposed to use the term ‘‘hourly hot
water output’’ instead of the more
technical term ‘‘first hour rating.’’ The
proposal also contains text explaining
the term ‘‘hourly hot water output.’’
Under the proposal, the label would
continue to display annual energy cost
as the primary disclosure, with energy
use appearing in the label’s secondary
information. The Commission did not
propose to add an energy efficiency
rating (i.e., energy factor) to the label.
Additionally, the Commission
announced plans to update the
comparability range for water heaters to
reflect the new test procedure results
and significant efficiency increases
driven by the new DOE standards.59 As
a result of the new DOE standards, most,
if not all, electric water heaters will
include heat pump technology. The
Commission, therefore, proposed
revising the existing water heater
categories to eliminate the separate
category for heat pump water heaters,
and combining such models into a
general category for all electric water
heaters. The Commissioned expected
this change would simplify the tables
and help consumers compare all electric
water heaters.60
Comments: In general, the
commenters agreed that the FTC should
amend the water heater label based on
significant changes to the DOE test
procedure. Despite their general support
for changing the label, industry
members, as discussed in detail below,
raised several concerns with the
proposed label, including the ‘‘first hour
rating’’ terminology, annual energy use
and energy efficiency disclosures, tank
size disclosures, the comparability
categories, energy factor information,
and timing of revised labels. In urging
FTC to consider these various issues,
industry members asked that the FTC
reconsider the sample labels AHRI
submitted with its previous comments.
In their view, these labels provide clear,
concise consumer information while not
adversely affecting competition among
water heater manufacturers.
Specifically, AHRI asserted that its
59 Given the absence of model energy data from
the new test procedure, the proposed amendatory
language did not include proposed tables for
revised cost ranges.
60 The Commission also proposed to update the
definition of ‘‘water heater’’ so that it is consistent
with clarifying changes to that term recently
proposed by DOE. 79 FR 40541 (July 11, 2014).
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suggested labels clearly identify the new
DOE size bins and inform consumers
that the labels’ comparative information
applies only to water heaters within the
same bin.61 Finally, in addition to
concerns regarding the proposed label
designs, the commenters raised issues
about labels for electric instantaneous
models and grid-enabled water heaters.
First hour rating. Several industry
commenters (e.g., A.O. Smith, AHRI,
and BWC) objected to the proposed
label’s use of the term ‘‘hourly hot water
output’’ instead of ‘‘first hour rating.’’ In
their opinion, this undefined term
incorrectly implies that a model will
deliver the indicated hot water volume
on an hour-to-hour basis. The
commenters explained that the first
hour rating only measures the first
hour’s water delivery and does not
necessarily apply to subsequent
operating hours.62 Instead of creating a
new term, most industry commenters
recommended the Commission retain
the ‘‘first hour rating’’ because it is a
commonly accepted term employed for
decades in DOE standards, on FTC
labels, and in building codes and sizing
guides.63 Some commenters offered
specific alternatives. For instance, GEA
suggested the term ‘‘Hot Water Output’’
rather than ‘‘Hourly Hot Water Output’’
along with a clarification that the term
refers to ‘‘How much hot water you get
in 1st hour.’’ Rheem suggested terms
such as ‘‘usage category’’ or ‘‘hot water
usage capability.’’ Finally, Rheem and
AHRI recommended the usage category
scale include not only the first hour
rating category (e.g., very small, low),
but also the actual rating number (e.g.,
70 gallons) to provide more detailed
information to help consumers pick a
model that meets their hot water
demands.
Annual Energy Use in Therms and
Energy Factor: The commenters offered
different views on including annual
energy use and energy factor ratings on
the label. Several industry commenters
(e.g., AHRI, A.O. Smith, Rheem and
BWC) recommended excluding the
estimated annual energy use in therms
from the label because, in their view,
61 AHRI noted two minor errors on the proposed
label related to the names of the DOE first hour
rating categories and the description of the term
‘‘hourly hot water output.’’ The Commission
addresses both of these issues in the final Rule.
62 A.O. Smith also argued that the ‘‘Hourly Hot
Water Output’’ term may conflict with applicable
DOE test procedures. See 42 U.S.C. 6293(b).
63 Rheem noted that in DOE regulations ‘‘first
hour rating’’ is defined as ‘‘an estimate of the
maximum volume of hot water that a storage-type
water heater can supply within an hour that begins
with the water heater fully heated (i.e., with all
thermostats satisfied). It is a function of both the
storage volume and the recovery rate.’’ 10 CFR 430,
Subpart B, Appendix E.
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most consumers do not find that
information useful.64 AHRI explained
that annual energy cost and therms are
proportional and that users who need
such information can easily calculate
‘‘annual therms’’ from the annual energy
cost. These commenters suggested that
other disclosures would be more useful,
though they did not provide examples.
GEA disagreed, arguing that the label
should retain the estimated annual
energy use disclosure because it
provides energy use information to
consumers without forcing them to
convert those figures from the cost
disclosure.
The California IOUs, which did not
address the annual energy use issue,
suggested that the label display the
model’s efficiency rating (i.e., energy
factor), in addition to its energy
consumption, because it is the best
indicator of a water heater’s efficiency.
They explained that energy factor helps
consumers determine whether a model
qualifies for utility rebates and serves as
the applicable metric for gauging
compliance with DOE standards and
state building codes.65
Tank Size: The commenters also took
issue with including information about
tank size on the proposed label. First,
several commenters (e.g., AHRI and
A.O. Smith) objected to the term ‘‘tank
size’’ and urged the Commission to use
the standard industry term, ‘‘storage
vessel capacity,’’ which nationallyrecognized safety standards already
require on the product’s rating plate.66
Rheem agreed that the term ‘‘tank size’’
should not appear on the label but,
should the Commission decide to
include it, suggested alternative terms
such as ‘‘rated storage volume’’ or
‘‘rated storage capacity’’ to better reflect
the terms used by DOE and the water
heater industry.67
64 AHRI and Rheem agreed that the ‘‘Estimated
Yearly Energy Cost’’ range chart on the label be
larger and more prominent than the first hour rating
category segmented bar figure, as depicted in the
proposed FTC EnergyGuide label.
65 In addition, for water heaters that exceed the
minimum federally required energy factor, the
California IOUs recommended FTC include the
following language: ‘‘This water heater’s energy
factor is [insert percentage] percent better than the
federal minimum standard. Contact your local
utility to find out if this product qualifies for a
rebate.’’
66 See ANSI Z21.10.1–2014/CSA 4.1–2014, ‘‘Gas
water heaters, volume I, storage water heaters with
input ratings of 75,000 Btu per hour or less.’’ AHRI
and A.O. Smith stressed that, if the Commission
decides to require such information on the label,
the term and number displayed should match the
water heater’s rating plate to ensure consistency
between the labels on the water heater.
67 Rheem explained that the ‘‘actual storage water
heater tank size is comprised of dimensional
measurements as well as tank volume, so a volume
measurement in gallons should not be the only
measurement describing ‘Tank Size.’’’
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Comparability Categories and Tank
Size: Similarly, industry commenters
(including A.O. Smith, AHRI, and BWC)
argued the label should not divide
comparability categories by storage
vessel capacity. Rheem explained that
first hour rating, which is a function of
both volume and output, better
describes the amount of hot water
consumers can expect. In addition,
Rheem noted that the four DOE first
hour rating categories (i.e., very small,
low, medium, or high) provide
appropriate comparative information
regardless of storage tank capacity.
Accordingly, industry commenters
asserted that the proposed division of
categories by storage capacity is
unnecessary, overly complicated, and
confusing to consumers. Instead, they
recommended that the comparability
ranges reflect first hour rating categories
only.
Combining range information for
electric water heaters and heat pump
water heaters: The commenters
(including A.O. Smith, BWC, Rheem,
AHRI, and the Joint Commenters)
supported the proposal to combine the
comparability range information for
electric and heat pump water heaters.
Rheem explained that this will allow
consumers to gauge operating cost
differences between the two
technologies and weigh them against
initial purchase prices. The Joint
Commenters noted that this proposal
reflects the reality that these products
compete with each other for the same
applications.68 Finally, AHRI urged the
Commission to clarify that the Rule’s
combination of existing categories for
electric water heaters and heat pumps
applies only to storage water heaters.
Need For a Transitional Label: The
commenters offered different views
about the need for additional label
information about the DOE test
procedure change. GEA argued that the
FTC should highlight the transition to
aid consumers in their comparison
shopping. It suggested using a modified
label similar to the transitional labels
employed for refrigerators and clothes
washers during the recent DOE test
procedure change for those products.
AHRI and A.O. Smith disagreed,
explaining that the proposed AHRI label
provides adequate information
regarding the transition by defining the
new first hour categories (‘‘bins’’) and
clearly explaining how consumers
should use that information. A.O. Smith
cautioned that transitional advisory
68 AHRI noted that electric resistance models will
cluster at the high end of the energy cost range
while most heat pump water heaters will appear at
the lower end, with few, if any models, in between.
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language would be overly confusing and
soon become unnecessary. Instead,
AHRI and A.O. Smith recommended the
Commission separately educate
consumers on the transition between
test procedures, using sources such as
the FTC Web site.
Gallons per hour for instantaneous
water heaters: The current
instantaneous water heater label
provides capacity in gallons per minute
(gpm). The California IOUs
recommended the instantaneous water
heater label include the model’s hourly
hot water output, as well as the same
ranges for hourly hot water output as
the storage water heaters (very low,
small, medium, and high) for
consistency. The California IOUs argued
that such a change would allow
consumers to better compare the two
technologies.
Timing: AHRI asserted that the
information necessary to develop
amended water heater labels is not yet
available. In particular, AHRI explained
that there is no industry data from the
new test procedure to generate new
comparability ranges. In addition, AHRI
urged the Commission to coordinate, to
the fullest extent possible, the timing of
new labeling requirements with DOE’s
implementation of its revised test
procedure. Specifically, industry
members (Rheem and AHRI) urged FTC
to coordinate with DOE to ensure the
new label requirements coincide with
the new DOE ratings. AHRI noted that
industry members are not yet using the
new UEF metrics from the revised test
procedure to determine compliance
with the minimum efficiency standards
because DOE has not issued a
conversion factor. The commenters
suggested the Commission use the new
data to determine new comparability
ranges once it becomes available. AHRI
indicated that the UEF implementation
date has yet to be determined and will
be decided with DOE’s publication of
the final UEF conversion factor rule.
Grid-Enabled Residential Electric
Water Heaters: Commenters also
requested that the Commission consider
labeling for thermal storage grid-enabled
residential electric water heaters.
Utilities can operate these models
remotely to manage overall electricity
load. Rheem explained that these
models, which have storage volumes
greater than 75 gallons, have several
unique aspects such as an activation
lock and key and communications
modules. In addition, Rheem explained
that these models are not limited to
residential use, and electronic utility
companies use these models as thermal
storage batteries. Given these unusual
characteristics, Rheem argued that the
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EnergyGuide labels will not adequately
compare these models to conventional
models. Accordingly, it urged the
Commission to exempt grid enabled
water heaters from EnergyGuide
labeling requirements. AHRI disagreed.
It explained that DOE regulations
already require a specific disclosure
addressing the appropriate use of these
water heaters (see 10 CFR 430.2), which
could appear on the FTC EnergyGuide
label, or as a separate label.
Electric instantaneous water heaters:
AHRI also recommended the
Commission propose labels for
residential electric instantaneous water
heaters, which have been excluded from
the DOE test procedure in the past. The
revised DOE water heater efficiency test
procedure now includes a method to
measure these models’ energy use.
Discussion: In the final amendments,
the Commission has revised the water
heater label to include new information
consistent with the revised DOE test
procedure. Manufacturers will have
nine months to begin using the label
and must base the information on the
new DOE test procedure. Consistent
with the proposed label, the new label
depicts storage water heater capacity
using DOE’s new output categories (or
bins). The final Rule also includes new
ranges for these bins derived from DOE
data developed as part of its regulatory
proceeding. As proposed and supported
in the comments, the final Rule
combines the electric water heaters and
heat pump water heaters for comparison
purposes.69
In response to the comments, the
Commission has made several revisions
to the proposed label. First, the final
label uses the conventional term ‘‘first
hour rating’’ instead of ‘‘hourly hot
water output.’’ We agree with
commenters that the latter term may
suggest that the rating applies on an
hour-to-hour basis, when, in reality, it
only measures output in the first hour.
To address this issue, the final label
states that ‘‘first hour rating’’ describes
‘‘How much hot water you get in the
first hour.’’ Consistent with AHRI’s
suggestions, the model’s first hour rating
in gallons appears on the scale next to
the model’s first hour rating bin (i.e.,
very small, low, medium, and high) to
allow for better product comparisons.
Second, the label does not sort
comparability ranges by tank size (i.e.,
storage capacity) as proposed, but
instead limits those ranges to the four
DOE water output bins (very small, low,
medium, and high). As explained by the
69 Heat pump water heaters now fall under the
comparability range information for electric water
heaters in Appendix D2.
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commenters, ‘‘first hour rating’’ best
describes the hot water amount
consumers can expect the product to
deliver. Therefore, including tank size
in the comparability ranges is
unnecessary and potentially confusing.
However, the final label includes a
storage capacity disclosure near the top
of the label. In response to commenters’
concerns about terminology, the final
label uses the term ‘‘tank size (storage
capacity),’’ to ensure consistency with
commonly used wording. Finally, the
label continues to include annual
energy use to provide consumers with
this additional comparative
information.70
The final label, however, does not
include several items proposed by
commenters. First, it does not include
text regarding the new DOE test
procedure. The Commission agrees with
other commenters that the final label
appropriately conveys information
related to the test procedure transition.
Specifically, the label clearly defines the
new categories (‘‘bins’’) and explains
how consumers should use that
information, making additional
explanatory text unnecessary. Second,
the label does not contain a statement
explaining how the labeled model
compares to the applicable DOE
standard. Such information would
clutter the label and be potentially
confusing. Finally, the labels for
instantaneous water heaters continue to
convey capacity in gallons per minute.
As commenters suggest, a ‘‘gallons per
hour’’ rating on an instantaneous model
may confuse or mislead consumers.
Such a disclosure is not equivalent to
the ‘‘first hour rating’’ for storage
models. ‘‘Gallons per hour’’ represents a
continuous flow rate that the model will
continuously deliver, whereas ‘‘first
hour rating’’ reflects hot water volume
delivered in the first hour.71
Finally, the Commission will consider
seeking comment on special labeling for
grid-enabled residential electric water
heaters in the future. In the meantime,
since grid-enabled water heaters meet
existing definitions for water heaters,
and the Rule contains applicable
comparison ranges, manufacturers
should label these models as they do
any other storage water heater. The
Commission will also formally propose
70 The revised label does not include an energy
factor disclosure, as suggested by some
commenters. As the Commission explained in a
2015 Notice, it is unclear whether consumers are
familiar with the term. In addition, such
information is available from DOE’s Compliance
Certification Management System (CCMS). 80 FR
67285, 67293 (Nov. 2, 2015).
71 The FTC staff will provide a sample label
template for instantaneous water heaters on the FTC
Web site for use by manufacturers.
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labels for instantaneous electric-water
heaters in a later notice. These products
cannot be labeled under the current
Rule because they do not fall into an
existing labeling category, and no range
of comparability exists.
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III. 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 May 31, 2017 (OMB Control No.
3084–0069). The amendments make
changes in the Rule’s labeling
requirements that will increase the PRA
burden as detailed below.72
Accordingly, the Commission is seeking
OMB clearance specific to the Rule
amendments.
Reporting Requirements (label
images): The amendments require
manufacturers to furnish (as part of their
normal FTC reporting) links to images of
their EnergyGuide labels. Given
approximately 15,000 total models at an
estimated 1 minute per model, this
requirement will entail a burden of 250
hours. Assuming further that these
reporting requirements will be
implemented by data entry workers at
an hourly wage rate of $15.79 per
hour,73 the associated labor cost for
reporting would be approximately
$3,948 per year. Any non-labor costs
72 As indicated in the NPRM (80 FR 67363, n. 54),
several proposed labeling changes, including
changes to dual mode refrigerators, heating and
cooling equipment, consolidated comparability
ranges for refrigerators, ceiling fan labels, and water
heaters should impose no additional burden beyond
existing estimates because such changes either
impose no or de minimis additional burdens, or
manufacturers should be able to incorporate the
proposed changes into their normally scheduled
package or label revisions without incurring
additional burdens beyond those already accounted
for. The PRA analysis for this rulemaking focuses
strictly on the information collection requirements
created by and/or otherwise affected by the
amendments. Unaffected information collection
provisions have previously been accounted for in
past FTC analyses under the Rule and are covered
by the current PRA clearance from OMB.
73 This is an increase from the labor cost estimate
in the NPRM, attributable to an intervening annual
release from the Bureau of Labor Statistics. Within
it, the mean hourly wage for ‘‘Data entry and
information processing workers’’ rose from the
previously shown amount of $15.48 to $15.79. See
https://www.bls.gov/news.release/ocwage.t01.htm
‘‘Occupational Employment and Wages—May
2015,’’ Bureau of Labor Statistics, U.S. Department
of Labor, released March 30, 2016, Table 1
(‘‘National employment and wage data from the
Occupational Employment Statistics survey by
occupation, May 2015’’).
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associated with the reporting
amendments are likely to be minimal.
IV. Regulatory Flexibility Act
The Regulatory Flexibility Act (RFA),
5 U.S.C. 601–612, requires that the
Commission provide an Initial
Regulatory Flexibility Analysis (IRFA)
with a Proposed Rule, and a Final
Regulatory Flexibility Analysis (FRFA)
with the final Rule, unless the
Commission certifies that the Rule will
not have a significant economic impact
on a substantial number of small
entities.74
The Commission does not anticipate
that the final amendments will have a
significant economic impact on a
substantial number of small entities.
The Commission recognizes that many
affected entities may qualify as small
businesses under the relevant
thresholds. The Commission does not
expect, however, that the economic
impact of implementing the
amendments will be significant. The
Commission plans to provide businesses
with ample time to implement the
requirements. In addition, the
Commission does not expect that the
requirements specified in the final
amendments will have a significant
impact on affected entities.
Although the Commission certified
under the RFA that the amendments
would not, if promulgated, have a
significant impact on a substantial
number of small entities, the
Commission has determined,
nonetheless, that it is appropriate to
publish an FRFA in order to explain the
impact of the amendments on small
entities as follows:
A. Description of the Reasons That
Action by the Agency Is Being Taken
The Commission initiated this
rulemaking to reduce the Rule’s
reporting burdens, increase the
availability of energy labels to
consumers while minimizing burdens
on industry, and generally improve
existing requirements.
B. Issues Raised by Comments in
Response to the IRFA
The Commission did not receive any
comments specifically related to the
impact of the final amendments on
small businesses. Comments that
involve impacts on all entities are
discussed above.
C. Estimate of Number of Small Entities
to Which the Amendments Will Apply
Under the Small Business Size
Standards issued by the Small Business
74 5
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Administration, the standards for
various affected entities are as follows:
refrigerator manufacturers—up to 1,000
employees; other appliance
manufacturers—up to 500 employees.
Based on general knowledge of the this
market, the FTC staff estimates that
fewer than 50 entities subject to the
Rule’s requirements qualify as small
businesses.
D. Projected Reporting, Recordkeeping,
and Other Compliance Requirements
The Commission recognizes that the
changes will involve some burdens on
affected entities. However, the
amendments should not have a
significant impact on a substantial
number of small entities. Manufacturers
will have to make changes to their
reporting process. However, the
Commission has provided them with
ample time to incorporate the changes
into their normal Web site updates. In
addition, as detailed in the Paperwork
Reduction Act analysis, the changes will
not be significant. There should be no
capital costs associated with the
amendments. As estimated above, the
Rule imposes new requirements on
fewer than 50 small businesses
(appliance and electronics
manufacturers. The changes are likely to
be made by data entry specialists.
E. Description of Steps Taken To
Minimize Significant Economic Impact,
If Any, on Small Entities, Including
Alternatives
The Commission sought comment and
information on the need, if any, for
alternative compliance methods that
would reduce the economic impact of
the Rule on such small entities. In
particular, the Commission sought
comments on whether it should delay
the Rule’s effective date to provide
additional time for small business
compliance and whether to reduce the
amount of information catalog sellers
must provide. However, to minimize the
impacts on manufacturers, the
Commission has set the effective date
for most of the new requirements at one
year after publication of this document
in the Federal Register and has also
modified its proposal to reduce the
burden associated with that reporting by
providing manufacturers with different
options for reporting their label images
(e.g., links to pdf files, Web sites, etc.).
List of Subjects in 16 CFR Part 305
Advertising, Energy conservation,
Household appliances, Labeling,
Reporting and recordkeeping
requirements.
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Final Rule
For the reasons discussed above, the
Commission amends part 305 of title 16,
Code of Federal Regulations, 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 § 305.3, revise paragraph (x) to
read as follows:
■
§ 305.3
Description of covered products.
*
*
*
*
*
(x) Ceiling fan means a nonportable
device that is suspended from a ceiling
for circulating air via the rotation of fan
blades, excluding large-diameter and
high-speed small diameter fans as
defined in appendix U of subpart B of
10 CFR part 430. The requirements of
this part are otherwise limited to those
ceiling fans for which the Department of
Energy has adopted and published test
procedures for measuring energy usage.
*
*
*
*
*
■ 3. Amend § 305.7 by revising
paragraphs (a), (b), and (d) to read as
follows:
§ 305.7
Determinations of capacity.
sradovich on DSK3GMQ082PROD with RULES2
*
*
*
*
*
(a) Refrigerators and refrigeratorfreezers. The capacity shall be the total
refrigerated volume (VT) in cubic feet,
rounded to the nearest one-tenth of a
cubic foot, as determined according to
appendix A to 10 CFR part 430, subpart
B.
(b) Freezers. The capacity shall be the
total refrigerated volume (VT) in cubic
feet, rounded to the nearest one-tenth of
a cubic foot, as determined according to
appendix B to 10 CFR part 430, subpart
B.
*
*
*
*
*
(d) Water heaters. The capacity shall
be the rated storage volume and first
hour rating (for storage-type models),
and gallons per minute (for
instantaneous-type models), as
determined according to appendix E to
10 CFR part 430, subpart B.
*
*
*
*
*
■ 4. In § 305.8:
■ a. Remove the term ‘‘at high speed’’
wherever it appears; and
■ b. Add paragraph (a)(5) to read as
follows:
§ 305.8
Submission of data.
(a) * * *
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(5) After September 15, 2017,
manufacturers must begin submitting a
Web site address for the online
EnergyGuide labels covered by
§ 305.6(a) in new model and annual
reports required by this section.
Manufacturers may accomplish this by
either submitting a specific link to a
URL for each label, a link to a PDF
download for each label, or a link to a
Web site that takes users directly to a
searchable database of the covered
labels from which the label image or
download may be accessed using the
model number as certified to DOE
pursuant to 10 CFR part 429 and the
model number advertised in product
literature. Such label information must
be submitted either at the time the
model is certified to DOE pursuant to 10
CFR part 429 or at some time on or
before the annual report date
immediately following such
certification. In lieu of submitting the
required information to the
Commission, manufacturers may submit
such information to the Department of
Energy via the CCMS at https://
regulations.doe.gov/ccms as provided
by 10 CFR 429.12. The requirements in
this paragraph do not apply to Lighting
Facts labels.
*
*
*
*
*
■ 5. Amend § 305.11 by revising
paragraphs (a) and (f) to read as follows:
§ 305.11 Labeling for refrigerators,
refrigerator-freezers, freezers, dishwashers,
clothes washers, water heaters, room air
conditioners, and pool heaters.
(a) Layout. All energy labels for
refrigerators, refrigerator-freezers,
freezers, dishwashers, clothes washers,
water heaters, pool heaters, and room
air conditioners shall use one size,
similar colors, and typefaces with
consistent positioning of headline, copy,
and charts to maintain uniformity for
immediate consumer recognition and
readability. Trim size dimensions for all
labels shall be as follows: width must be
between 51⁄4 inches and 51⁄2 inches
(13.34 cm. and 13.97 cm.); length must
be between 73⁄8 inches (18.73 cm.) and
75⁄8 (19.37 cm.). Copy is to be set
between 27 picas and 29 picas and copy
page should be centered (right to left
and top to bottom). Depth is variable but
should follow closely the prototype
labels appearing at the end of this part
illustrating the basis layout. All
positioning, spacing, type sizes, and line
widths should be similar to and
consistent with the prototype and
sample labels in appendix L to this part.
*
*
*
*
*
(f) Label content. (1) Headlines and
texts, as illustrated in the prototype and
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sample labels in appendix L to this part,
are standard for all labels.
(2) Name of manufacturer or private
labeler shall, in the case of a
corporation, be deemed to be satisfied
only by the actual corporate name,
which may be preceded or followed by
the name of the particular division of
the corporation. In the case of an
individual, partnership, or association,
the name under which the business is
conducted shall be used. Inclusion of
the name of the manufacturer or private
labeler is optional at the discretion of
the manufacturer or private labeler.
(3) Model number(s) will be the
designation given by the manufacturer
or private labeler.
(4) Capacity or size is that determined
in accordance with § 305.7. For
refrigerators, refrigerator-freezers, and
freezers, the capacity provided on the
label shall be the model’s total
refrigerated volume (VT) as determined
in accordance with § 305.7 and the
model description must be consistent
with the categories described in
Appendices A and B to this part.
Capacity for storage water heaters shall
be presented in both rated storage
volume (‘‘tank size (storage capacity)’’)
and first hour rating as indicated on the
sample label in appendix L to this part.
(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.
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 to this part.
Labels for dual-mode refrigeratorfreezers that can operate as either a
refrigerator or a freezer must reflect the
estimated energy cost of the model’s
most energy intensive configuration.
(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.
(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
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§ 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 to this part.
(9) Labels must contain a statement as
illustrated in the prototype labels in
appendix L and specified as follows by
product type:
(i) Labels for refrigerators and
refrigerator-freezers must contain a
statement as illustrated in the prototype
labels in appendix L and specified as
follows (fill in the blanks with the
appropriate year and energy cost
figures):
Your cost will depend on your utility
rates and use.
Both cost ranges based on models of
similar size capacity.
[Insert statement required by
§ 305.11(f)(9)(iii)].
Estimated energy cost is based on a
national average electricity cost of ll
cents per kWh.
ftc.gov/energy.
(ii) For refrigerators, refrigeratorfreezers, and freezers and clothes
washers the label shall contain the text
and graphics illustrated in sample labels
1 and 2 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 and refrigeratorfreezers, the following sentence shall be
included as part of the statement
required by paragraph (f)(9)(i) of this
section:
(A) For models covered under
appendix A1, the sentence shall read:
Models with similar features have
automatic defrost and no freezer.
(B) For models covered under
appendix A2, the sentence shall read:
Models with similar features have
manual defrost.
(C) For models covered under
appendix A3, the sentence shall read:
Models with similar features have
partial automatic defrost.
(D) For models covered under
appendix A4, the sentence shall read:
Models with similar features have
automatic defrost, top-mounted freezer,
and no through-the-door ice.
(E) For models covered under
appendix A5, the sentence shall read:
Models with similar features have
automatic defrost, side-mounted freezer,
and no through-the-door ice.
(F) For models covered under
appendix A6, the sentence shall read:
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Models with similar features have
automatic defrost, bottom-mounted
freezer, and no through-the-door ice.
(G) For models covered under
appendix A7, the sentence shall read:
Models with similar features have
automatic defrost, bottom-mounted
freezer and through-the-door ice.
(H) For models covered under
appendix A8, the sentence shall read:
Models with similar features have
automatic defrost, side-mounted freezer,
and through-the-door ice.
(iv) Labels for freezers must contain a
statement as illustrated in the prototype
labels in appendix L and specified as
follows (fill in the blanks with the
appropriate year and energy cost
figures):
Your cost will depend on your utility
rates and use.
[Insert statement required by
§ 305.11(f)(10)(v).]
Estimated energy cost is based on a
national average electricity cost of ll
cents per kWh.
ftc.gov/energy.
(v) For freezers, the following
sentence shall be included as part of the
statement required by paragraph
(f)(9)(iv) of this section:
(A) For models covered under
appendix B1, the sentence shall read:
Cost range based only on upright
freezer models of similar capacity with
manual defrost.
(B) For models covered under
appendix B2, the sentence shall read:
Cost range based only on upright
freezer models of similar capacity with
automatic defrost.
(C) For models covered under
appendix B3, the sentence shall read:
Cost range based only on chest and
other freezer models of similar capacity.
(vi) 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
llcents 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.
(vii) For water heaters covered by
Appendices D1, D2, and D3, the
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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
fueled by [natural gas, oil, propane, or
electricity] with a [very small, low,
medium, or large] first hour rating
([fewer than 18 gallons, 18–50.9 gallons,
51–74.9 gallons, or greater than 75
gallons]).
Estimated energy cost is based on a
national average [electricity, natural gas,
propane, or oil] cost of [llcents per
kWh or $llper therm or gallon].
Estimated yearly energy use: ll
[kWh or therms].
ftc.gov/energy.
(viii) For instantaneous water heaters
(Appendix D4), 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 models
fueled by natural gas with a [very small,
low, medium, or large] gallons per
minute rating ([0 to 1.6, 1.7 to 2.7, 2.8
to 4.0, or greater than 4.0]).
Estimated energy cost is based on a
national average [natural gas, or
propane] cost of [llcents per kWh or
$llper therm or gallon].
Estimated yearly energy use: ll
[kWh or therms].
ftc.gov/energy.
(ix) 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 $llper
therm.
ftc.gov/energy.
(x) For clothes washers 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 six
wash loads a week and a national
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average electricity cost of __cents per
kWh and natural gas cost of $llper
therm.
ftc.gov/energy.
(xi) 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.
*
*
*
*
*
■ 6. Amend § 305.12 by revising
paragraphs (f)(2) and (3), adding
paragraph (f)(14), and revising
paragraph (g) to read as follows:
§ 305.12 Labeling for central air
conditioners, heat pumps, and furnaces.
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*
*
*
*
*
(f) * * *
(2) Name of manufacturer or private
labeler shall, in the case of a
corporation, be deemed to be satisfied
only by the actual corporate name,
which may be preceded or followed by
the name of the particular division of
the corporation. In the case of an
individual, partnership, or association,
the name under which the business is
conducted shall be used. Inclusion of
the name of the manufacturer or private
labeler is optional at the discretion of
the manufacturer or private labeler.
(3) The model’s basic model number.
The label may include multiple model
numbers on a single label for models as
long as the models share the same
efficiency ratings and capacities and the
presentation of such information is clear
and prominent.
*
*
*
*
*
(14) Manufacturers of models that
qualify as both furnaces and central air
conditioners or heat pumps under DOE
requirements may combine the
disclosures required by this section on
one label for models that meet all
applicable DOE regional efficiency
standards.
(g) Content of central air conditioner
labels: Content of labels for central air
conditioners and heat pumps. (1)
Headlines and texts, as illustrated in the
prototype and sample labels in
appendix L to this part.
(2) Name of manufacturer or private
labeler shall, in the case of a
corporation, be deemed to be satisfied
only by the actual corporate name,
which may be preceded or followed by
the name of the particular division of
the corporation. In the case of an
individual, partnership, or association,
the name under which the business is
conducted shall be used. Inclusion of
the name of the manufacturer or private
labeler is optional at the discretion of
the manufacturer or private labeler.
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(3) The model’s basic model number.
The label may include multiple model
numbers on a single label for models as
long as the models share the same
efficiency ratings and capacities and the
presentation of such information is clear
and prominent.
(4) The model’s capacity. Inclusion of
capacity is optional at the discretion of
the manufacturer or private labeler for
all models except split-system labels,
which may not disclose capacity.
(5) The seasonal energy efficiency
ratio (SEER) for the cooling function of
central air conditioners as determined
in accordance with § 305.5. For the
heating function, the heating seasonal
performance factor (HSPF) shall be
calculated for heating Region IV for the
standardized design heating
requirement nearest the capacity
measured in the High Temperature Test
in accordance with § 305.5. In addition,
as illustrated in the sample labels in
appendix L to this part, the ratings for
any split-system air conditioner
condenser evaporator coil combinations
shall be the minimum rating of all
condenser-evaporator coil combinations
certified to the Department of Energy
pursuant to 10 CFR part 430. The ratings
for any split-system heat pump
condenser-evaporator coil combinations
shall include the low and high ratings
of all condenser-evaporator coil
combinations certified to the
Department of Energy pursuant to 10
CFR part 430.
(6)(i) Each cooling-only central air
conditioner label shall contain a range
of comparability consisting of the lowest
and highest SEER for all cooling-only
central air conditioners consistent with
sample label 7A in appendix L to this
part.
(ii) Each heat pump label, except as
noted in paragraph (g)(6)(iii) of this
section, shall contain two ranges of
comparability. The first range shall
consist of the lowest and highest
seasonal energy efficiency ratios for the
cooling side of all heat pumps
consistent with sample label 8 in
appendix L to this part. The second
range shall consist of the lowest and
highest heating seasonal performance
factors for the heating side of all heat
pumps consistent with sample label 8 in
appendix L to this part.
(iii) Each heating-only heat pump
label shall contain a range of
comparability consisting of the lowest
and highest heating seasonal
performance factors for all heating-only
heat pumps following the format of
sample label 8 in appendix L to this
part.
(7) Placement of the labeled product
on the scale shall be proportionate to
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the lowest and highest efficiency ratings
forming the scale.
(8) The following statement shall
appear on the label in bold print as
indicated in the sample labels in
appendix L to this part.
For energy cost info, visit
productinfo.energy.gov.
(9) All labels on split-system
condenser units must contain one of the
following three statements:
(i) For labels disclosing only the
seasonal energy efficiency ratio for
cooling, the statement should read:
* Your air conditioner’s efficiency
rating may be better depending on the
coil your contractor installs.
(ii) For labels disclosing both the
seasonal energy efficiency ratio for
cooling and the heating seasonal
performance factor for heating, the
statement should read:
This system’s efficiency ratings
depend on the coil your contractor
installs with this unit. The heating
efficiency rating varies slightly in
different geographic regions. Ask your
contractor for details.
(iii) For labels disclosing only the
heating seasonal performance factor for
heating, the statement should read:
This system’s efficiency rating
depends on the coil your contractor
installs with this unit. The efficiency
rating varies slightly in different
geographic regions. Ask your contractor
for details.
(10) The following statement shall
appear at the top of the label as
illustrated in the sample labels in
appendix L of this part:
Federal law prohibits removal of this
label before consumer purchase.
(11) For any single-package air
conditioner with a minimum Energy
Efficiency Ratio (EER) of at least 11.0,
any split system central air conditioner
with a rated cooling capacity of at least
45,000 Btu/h and minimum efficiency
ratings of at least 14 SEER and 11.7 EER,
and any split-system central air
conditioners with a rated cooling
capacity less than 45,000 Btu/h and
minimum efficiency ratings of at least
14 SEER and 12.2 EER, the label must
contain the following regional standards
information:
(i) A statement that reads:
Notice Federal law allows this unit to
be installed in all U.S. states and
territories.
(ii) For split systems, a statement that
reads:
Energy Efficiency Ratio (EER): The
installed system’s minimum EER
is ll.
(iii) For single-package air
conditioners, a statement that reads:
Energy Efficiency Ratio (EER): This
model’s EER is [ll].
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(12) For any split system central air
conditioner with a rated cooling
capacity of at least 45,000 Btu/h and
minimum efficiency ratings of at least
14 SEER but lower than 11.7 EER, and
any split-system central air conditioners
with a rated cooling capacity less than
45,000 Btu/h and minimum efficiency
ratings of at least 14 SEER but lower
than 12.2 EER, the label must contain
the following regional standards
information.
(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 7A in
appendix L.
(iii) A statement that reads:
Energy Efficiency Ratio (EER): The
installed system’s minimum EER
is ll.
(13) For any split system central air
conditioner with a minimum rated
efficiency rating less than 14 SEER, the
label must contain the following
regional standards information:
(i) A statement that reads:
Notice Federal law allows this unit to
be installed only in: AK, CO, CT, ID, IL,
IA, IN, KS, MA, ME, MI, MN, MO, MT,
ND, NE., NH, NJ, NY, OH, OR, PA, RI,
SD, UT, 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 8 in
appendix L.
(iii) A statement that reads:
Energy Efficiency Ratio (EER): The
installed system’s minimum EER is __.
(14) For any single-package air
conditioner with a minimum EER below
11.0, the label must contain the
following regional standards
information consistent with sample
label 7A 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 7A in
appendix L.
(15) No marks or information other
than that specified in this part shall
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appear on or directly adjoining this
label except that:
(i) A part or publication number
identification may be included on this
label, as desired by the manufacturer. If
a manufacturer elects to use a part or
publication number, it must appear in
the lower right-hand corner of the label
and be set in 6-point type or smaller.
(ii) The energy use disclosure labels
required by the governments of Canada
or Mexico may appear directly adjoining
this label, as desired by the
manufacturer.
(iii) The manufacturer may include
the ENERGY STAR logo on the label for
certified products in a location
consistent with the sample labels in
appendix L to this part. The logo must
be no larger than 1 inch by 3 inches in
size. Only manufacturers that have
signed a Memorandum of
Understanding with the Department of
Energy or the Environmental Protection
Agency may add the ENERGY STAR
logo to labels on qualifying covered
products; such manufacturers may add
the ENERGY STAR logo to labels only
on those covered products that are
contemplated by the Memorandum of
Understanding.
■ 7. Revise § 305.13(a) to read as
follows:
§ 305.13
Labeling for ceiling fans.
(a) Ceiling fans—(1) Content. Any
covered product that is a ceiling fan,
except for models 84 inches or greater
in diameter and high-speed small
diameter fans as defined in 10 CFR part
430, shall be labeled clearly and
conspicuously on the package’s
principal display panel with the
following information on the label
consistent with the sample label in
appendix L to this part:
(i) Headlines, including the title
‘‘EnergyGuide,’’ and text as illustrated
in the sample label in appendix L to this
part;
(ii) The product’s estimated yearly
energy cost based on 6.4 hours use per
day and 12 cents per kWh;
(iii) The product’s airflow expressed
in cubic feet per minute and determined
pursuant to § 305.5;
(iv) The product’s energy use
expressed in watts and determined
pursuant to § 305.5 as indicated in the
sample label in appendix L of this part;
(v) The statement ‘‘Based on 12 cents
per kWh and 6.4 hours use per day’’;
(vi) The statement ‘‘Your cost
depends on rates and use’’;
(vii) The statement ‘‘All estimates
based on typical use, excluding lights’’;
(viii) The statement ‘‘The higher the
airflow, the more air the fan will move’’;
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63649
(ix) The statement ‘‘Airflow
Efficiency: llCubic Feet Per Minute
Per Watt’’;
(x) The address ftc.gov/energy;
(xi) For fans less than 19 inches in
diameter, the label shall display a cost
range of $10 to $50 along with the
statement underneath the range ‘‘Cost
Range of Similar Models (18″ or
smaller)’’;
(xii) For fans from 19 or more inches
and less than 84 inches in diameter, the
label shall display a cost range of $3 to
$34 along with the statement
underneath the range ‘‘Cost Range of
Similar Models (19″–83)’’.
(xiii) Placement of the labeled product
on the scale proportionate to the lowest
and highest estimated annual energy
costs as illustrated in the Sample Labels
in appendix L. When the estimated
annual energy cost of a given 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.
(xiv) The ENERGY STAR logo as
illustrated on the ceiling fan label
illustration in Appendix L for qualified
products, if desired by the
manufacturer. Only manufacturers that
have signed a Memorandum of
Understanding with the Department of
Energy or the Environmental Protection
Agency may add the ENERGY STAR
logo to labels on qualifying covered
products; such manufacturers may add
the ENERGY STAR logo to labels only
on those products that are covered by
the Memorandum of Understanding;
(2) Label size, color, and text font. The
label shall be four inches wide and three
inches high. The label colors shall be
black text on a process yellow or other
neutral contrasting background. The text
font shall be Arial or another equivalent
font. The label’s text size, format,
content, and the order of the required
disclosures shall be consistent with the
ceiling fan label illustration of appendix
L of this part.
(3) Placement. The ceiling fan label
shall be printed on or affixed to the
principal display panel of the product’s
packaging.
(4) Additional information. No marks
or information other than that specified
in this part shall appear on this label,
except a model name, number, or
similar identifying information.
(5) Labeling for ‘‘multi-mount’’ fans.
For ‘‘multi-mount’’ fan models that can
be installed either extended from the
ceiling or flush with the ceiling, the
label content must reflect the lowest
efficiency (cubic feet per watt)
configuration. Manufacturers may
E:\FR\FM\15SER2.SGM
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63650
Federal Register / Vol. 81, No. 179 / Thursday, September 15, 2016 / Rules and Regulations
provide a second label depicting the
efficiency at the other configuration.
*
*
*
*
*
■ 8. Revise § 305.14 to read as follows:
§ 305.14 Energy information disclosures
for heating and cooling equipment.
The following provisions apply to any
covered central air conditioner, heat
pump, or furnace.
(a) Manufacturer duty to provide
labels. For any covered central air
conditioner, heat pump, or furnace
model that a manufacturer distributes in
commerce, the manufacturer must make
a copy of the EnergyGuide label
available on a publicly accessible Web
site in a manner that allows catalog
sellers and consumers to hyperlink to
the label or download it for their use.
The labels must remain on the Web site
for six months after the manufacturer
ceases the model’s production.
(b) Distribution. (1) Manufacturers
and private labelers must provide to
distributors and retailers, including
assemblers, EnergyGuide labels for
covered central air conditioners, heat
pumps, and furnaces (including boilers)
they sell to them. The label may be
provided in paper or electronic form
(including Internet-based access).
Distributors must give this information
to retailers, including assemblers, they
supply.
(2) Retailers, including assemblers,
who sell covered central air
conditioners, heat pumps, and furnaces
(including boilers) to consumers must
show the labels for the products they
offer to customers and let them read the
labels before the customers agree to
purchase the product. For example, the
retailer may display labeled units in
their store or direct consumers to the
labels in a binder or computer at a
counter or service desk.
(3) Retailers, including installers and
assemblers, who negotiate or make sales
at a place other than their regular places
of business, including sales over the
telephone or through electronic
communications, must show the labels
for the products they offer to customers
and let them read the labels before the
customers agree to purchase the
product. If the labels are on a Web site,
retailers, including assemblers, who
negotiate or make sales at a place other
than their regular places of business,
may choose to provide customers with
instructions to access such labels in lieu
of showing them a paper version of the
information. Retailers who choose to
use the Internet for the required label
disclosures must provide customers the
opportunity to read such information
prior to sale of the product.
(c) Oil furnace labels. If an installer
installs an oil furnace with an input
capacity different from that set by the
manufacturer and the manufacturer
identifies alternative capacities on the
label, the installer must permanently
mark the appropriate box on the
EnergyGuide label displaying the
installed input capacity and the
associated AFUE as illustrated in
Sample Labels in appendix L to this
part.
9. Revise Appendixes A1 through A8
to Part 305 to read as follows:
■
Appendix A1 to Part 305—Refrigerators
With Automatic Defrost
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
Low
Less than 10.5 .........................................................................................................................................................
10.5 to 12.4 ..............................................................................................................................................................
12.5 to 14.4 ..............................................................................................................................................................
14.5 to 16.4 ..............................................................................................................................................................
16.5 to 18.4 ..............................................................................................................................................................
18.5 to 20.4 ..............................................................................................................................................................
20.5 to 22.4 ..............................................................................................................................................................
22.5 to 24.4 ..............................................................................................................................................................
24.5 to 26.4 ..............................................................................................................................................................
26.5 to 28.4 ..............................................................................................................................................................
28.5 and over ...........................................................................................................................................................
High
$18
30
34
(*)
34
40
37
45
(*)
(*)
(*)
$39
34
36
(*)
40
41
48
50
(*)
(*)
(*)
(*) No data.
Appendix A2 to Part 305—Refrigerators
and Refrigerator-Freezers With Manual
Defrost
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
sradovich on DSK3GMQ082PROD with RULES2
Low
Less than 10.5 .........................................................................................................................................................
10.5 to 12.4 ..............................................................................................................................................................
12.5 to 14.4 ..............................................................................................................................................................
14.5 to 16.4 ..............................................................................................................................................................
16.5 to 18.4 ..............................................................................................................................................................
18.5 to 20.4 ..............................................................................................................................................................
20.5 to 22.4 ..............................................................................................................................................................
22.5 to 24.4 ..............................................................................................................................................................
24.5 to 26.4 ..............................................................................................................................................................
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15SER2
High
$24
(*)
30
(*)
(*)
(*)
(*)
(*)
(*)
$41
(*)
30
(*)
(*)
(*)
(*)
(*)
(*)
Federal Register / Vol. 81, No. 179 / Thursday, September 15, 2016 / Rules and Regulations
63651
RANGE INFORMATION—Continued
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
Low
26.5 to 28.4 ..............................................................................................................................................................
28.5 and over ...........................................................................................................................................................
High
(*)
(*)
(*)
(*)
(*) No data.
Appendix A3 to Part 305—RefrigeratorFreezers With Partial Automatic
Defrost
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
Low
Less than 10.5 .........................................................................................................................................................
10.5 to 12.4 ..............................................................................................................................................................
12.5 to 14.4 ..............................................................................................................................................................
14.5 to 16.4 ..............................................................................................................................................................
16.5 to 18.4 ..............................................................................................................................................................
18.5 to 20.4 ..............................................................................................................................................................
20.5 to 22.4 ..............................................................................................................................................................
22.5 to 24.4 ..............................................................................................................................................................
24.5 to 26.4 ..............................................................................................................................................................
26.5 to 28.4 ..............................................................................................................................................................
28.5 and over ...........................................................................................................................................................
High
$25
(*)
(*)
(*)
(*)
(*)
(*)
(*)
(*)
(*)
(*)
$44
(*)
(*)
(*)
(*)
(*)
(*)
(*)
(*)
(*)
(*)
(*) No data.
Appendix A4 to Part 305—RefrigeratorFreezers With Automatic Defrost With
Top-Mounted Freezer Without
Through-the-Door Ice Service
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
Low
Less than 10.5 .........................................................................................................................................................
10.5 to 12.4 ..............................................................................................................................................................
12.5 to 14.4 ..............................................................................................................................................................
14.5 to 16.4 ..............................................................................................................................................................
16.5 to 18.4 ..............................................................................................................................................................
18.5 to 20.4 ..............................................................................................................................................................
20.5 to 22.4 ..............................................................................................................................................................
22.5 to 24.4 ..............................................................................................................................................................
24.5 to 26.4 ..............................................................................................................................................................
26.5 to 28.4 ..............................................................................................................................................................
28.5 and over ...........................................................................................................................................................
sradovich on DSK3GMQ082PROD with RULES2
(*) No data.
Appendix A5 to Part 305—RefrigeratorFreezers With Automatic Defrost With
Side-Mounted Freezer Without
Through-the-Door Ice Service
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High
$36
37
40
40
43
45
46
56
(*)
(*)
(*)
$53
51
55
57
59
62
63
66
(*)
(*)
(*)
63652
Federal Register / Vol. 81, No. 179 / Thursday, September 15, 2016 / Rules and Regulations
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
Low
Less than 10.5 .........................................................................................................................................................
10.5 to 12.4 ..............................................................................................................................................................
12.5 to 14.4 ..............................................................................................................................................................
14.5 to 16.4 ..............................................................................................................................................................
16.5 to 18.4 ..............................................................................................................................................................
18.5 to 20.4 ..............................................................................................................................................................
20.5 to 22.4 ..............................................................................................................................................................
22.5 to 24.4 ..............................................................................................................................................................
24.5 to 26.4 ..............................................................................................................................................................
26.5 to 28.4 ..............................................................................................................................................................
28.5 and over ...........................................................................................................................................................
High
$25
(*)
(*)
37
(*)
(*)
63
67
69
85
86
$70
(*)
(*)
37
(*)
(*)
86
90
93
96
101
(*) No data.
Appendix A6 to Part 305—RefrigeratorFreezers With Automatic Defrost With
Bottom-Mounted Freezer Without
Through-the-Door Ice Service
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
Low
Less than 10.5 .........................................................................................................................................................
10.5 to 12.4 ..............................................................................................................................................................
12.5 to 14.4 ..............................................................................................................................................................
14.5 to 16.4 ..............................................................................................................................................................
16.5 to 18.4 ..............................................................................................................................................................
18.5 to 20.4 ..............................................................................................................................................................
20.5 to 22.4 ..............................................................................................................................................................
22.5 to 24.4 ..............................................................................................................................................................
24.5 to 26.4 ..............................................................................................................................................................
26.5 to 28.4 ..............................................................................................................................................................
28.5 and over ...........................................................................................................................................................
High
$19
38
49
52
54
54
58
71
64
77
78
$62
63
65
72
73
75
79
83
81
84
86
Appendix A7 to Part 305—RefrigeratorFreezers With Automatic Defrost With
Bottom-Mounted Freezer With
Through-the-Door Ice Service
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
sradovich on DSK3GMQ082PROD with RULES2
Low
Less than 10.5 .........................................................................................................................................................
10.5 to 12.4 ..............................................................................................................................................................
12.5 to 14.4 ..............................................................................................................................................................
14.5 to 16.4 ..............................................................................................................................................................
16.5 to 18.4 ..............................................................................................................................................................
18.5 to 20.4 ..............................................................................................................................................................
20.5 to 22.4 ..............................................................................................................................................................
22.5 to 24.4 ..............................................................................................................................................................
24.5 to 26.4 ..............................................................................................................................................................
26.5 to 28.4 ..............................................................................................................................................................
28.5 and over ...........................................................................................................................................................
(*) No data.
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High
(*)
(*)
(*)
(*)
(*)
$77
79
80
76
74
78
(*)
(*)
(*)
(*)
(*)
$83
87
91
93
95
103
Federal Register / Vol. 81, No. 179 / Thursday, September 15, 2016 / Rules and Regulations
63653
Appendix A8 to Part 305—RefrigeratorFreezers With Automatic Defrost With
Side-Mounted Freezer With Throughthe-Door Ice Service
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
Low
Less than 10.5 .........................................................................................................................................................
10.5 to 12.4 ..............................................................................................................................................................
12.5 to 14.4 ..............................................................................................................................................................
14.5 to 16.4 ..............................................................................................................................................................
16.5 to 18.4 ..............................................................................................................................................................
18.5 to 20.4 ..............................................................................................................................................................
20.5 to 22.4 ..............................................................................................................................................................
22.5 to 24.4 ..............................................................................................................................................................
24.5 to 26.4 ..............................................................................................................................................................
26.5 to 28.4 ..............................................................................................................................................................
28.5 and over ...........................................................................................................................................................
High
(*)
(*)
(*)
(*)
(*)
$78
72
81
73
89
82
(*)
(*)
(*)
(*)
(*)
$78
94
98
99
104
107
(*) No data.
10. Add Appendix A9 to Part 305 to
read as follows:
Appendix A9 to Part 305—All
Refrigerators and Refrigerator-Freezers
■
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
Low
Less than 10.5 .........................................................................................................................................................
10.5 to 12.4 ..............................................................................................................................................................
12.5 to 14.4 ..............................................................................................................................................................
14.5 to 16.4 ..............................................................................................................................................................
16.5 to 18.4 ..............................................................................................................................................................
18.5 to 20.4 ..............................................................................................................................................................
20.5 to 22.4 ..............................................................................................................................................................
22.5 to 24.4 ..............................................................................................................................................................
24.5 to 26.4 ..............................................................................................................................................................
26.5 to 28.4 ..............................................................................................................................................................
28.5 and over ...........................................................................................................................................................
11. Revise Appendixes B1 through B3
to Part 305 to read as follows:
■
High
$18
30
30
37
34
40
37
45
64
74
78
$70
63
65
72
73
83
94
98
99
104
107
Appendix B1 to Part 305—Upright
Freezers With Manual Defrost
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
sradovich on DSK3GMQ082PROD with RULES2
Low
Less than 5.5 ...........................................................................................................................................................
5.5 to 7.4 ..................................................................................................................................................................
7.5 to 9.4 ..................................................................................................................................................................
9.5 to 11.4 ................................................................................................................................................................
11.5 to 13.4 ..............................................................................................................................................................
13.5 to 15.4 ..............................................................................................................................................................
15.5 to 17.4 ..............................................................................................................................................................
17.5 to 19.4 ..............................................................................................................................................................
19.5 to 21.4 ..............................................................................................................................................................
21.5 to 23.4 ..............................................................................................................................................................
23.5 to 25.4 ..............................................................................................................................................................
25.5 to 27.4 ..............................................................................................................................................................
27.5 to 29.4 ..............................................................................................................................................................
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High
$26
37
30
31
38
40
43
(*)
48
(*)
(*)
(*)
(*)
$36
38
30
31
38
40
43
(*)
48
(*)
(*)
(*)
(*)
63654
Federal Register / Vol. 81, No. 179 / Thursday, September 15, 2016 / Rules and Regulations
RANGE INFORMATION—Continued
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
Low
29.5 and over ...........................................................................................................................................................
High
(*)
(*)
(*) No data.
Appendix B2 To Part 305—Upright
Freezers With Automatic Defrost
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
Low
Less than 5.5 ...........................................................................................................................................................
5.5 to 7.4 ..................................................................................................................................................................
7.5 to 9.4 ..................................................................................................................................................................
9.5 to 11.4 ................................................................................................................................................................
11.5 to 13.4 ..............................................................................................................................................................
13.5 to 15.4 ..............................................................................................................................................................
15.5 to 17.4 ..............................................................................................................................................................
17.5 to 19.4 ..............................................................................................................................................................
19.5 to 21.4 ..............................................................................................................................................................
21.5 to 23.4 ..............................................................................................................................................................
23.5 to 25.4 ..............................................................................................................................................................
25.5 to 27.4 ..............................................................................................................................................................
27.5 to 29.4 ..............................................................................................................................................................
29.5 and over ...........................................................................................................................................................
High
$32
(*)
53
59
57
47
52
54
57
81
(*)
(*)
(*)
(*)
$32
(*)
59
59
67
73
74
71
76
87
(*)
(*)
(*)
(*)
(*) No data.
Appendix B3 To Part 305—Chest
Freezers And All Other Freezers
RANGE INFORMATION
Range of estimated annual
operating costs
(dollars/year)
Manufacturer’s rated total refrigerated volume in cubic feet
Low
Less than 5.5 ...........................................................................................................................................................
5.5 to 7.4 ..................................................................................................................................................................
7.5 to 9.4 ..................................................................................................................................................................
9.5 to 11.4 ................................................................................................................................................................
11.5 to 13.4 ..............................................................................................................................................................
13.5 to 15.4 ..............................................................................................................................................................
15.5 to 17.4 ..............................................................................................................................................................
17.5 to 19.4 ..............................................................................................................................................................
19.5 to 21.4 ..............................................................................................................................................................
21.5 to 23.4 ..............................................................................................................................................................
23.5 to 25.4 ..............................................................................................................................................................
25.5 to 27.4 ..............................................................................................................................................................
27.5 to 29.4 ..............................................................................................................................................................
29.5 and over ...........................................................................................................................................................
sradovich on DSK3GMQ082PROD with RULES2
(*) No data.
12. Appendices D1 through D4 to Part
305 are revised to read as follows:
■
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Heaters—Gas
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High
$16
24
23
25
(*)
35
33
40
(*)
46
(*)
(*)
(*)
(*)
$27
30
31
30
(*)
36
37
40
(*)
46
(*)
(*)
(*)
(*)
Federal Register / Vol. 81, No. 179 / Thursday, September 15, 2016 / Rules and Regulations
63655
RANGE INFORMATION
Capacity
(first hour rating in gallons)
Range of estimated annual energy costs
(dollars/year)
Natural gas ($/year)
Propane ($/year)
First hour rating
Low
‘‘Very Small’’—less than 18 .............................................................................
‘‘Low’’—18 to 50.9 ...........................................................................................
‘‘Medium’’—51 to 74.9 .....................................................................................
‘‘High’’—over 75 ...............................................................................................
High
*
$154
177
225
Low
*
$155
206
297
High
*
*
437
506
*
*
560
732
* No data.
Appendix D2 to Part 305—Water
Heaters Electric
RANGE INFORMATION
Capacity
(first hour rating in gallons)
Range of estimated annual
energy costs
(dollars/year)
First hour rating
Low
‘‘Very Small’’—less than 18 .....................................................................................................................................
‘‘Low’’—18 to 50.9 ...................................................................................................................................................
‘‘Medium’’—51 to 74.9 .............................................................................................................................................
High’’—over 75 ........................................................................................................................................................
High
*
$93
120
191
*
$295
423
252
* No data.
Appendix D3 to Part 305—Water
Heaters—Oil
RANGE INFORMATION
Capacity
(first hour rating in gallons)
Range of estimated annual
energy costs
(dollars/year)
First hour rating
Low
‘‘Very Small’’—less than 18 .....................................................................................................................................
‘‘Low’’—18 to 50.9 ...................................................................................................................................................
‘‘Medium’’—51 to 74.9 .............................................................................................................................................
High’’—over 75 ........................................................................................................................................................
High
*
*
*
$649
*
*
*
$730
* No data.
Appendix D4 to Part 305—Water
Heaters—Instantaneous-Gas
RANGE INFORMATION
Capacity
Range of estimated annual energy costs
(dollars/year)
Natural gas
($/year)
Capacity (maximum flow rate);
gallons per minute (gpm)
sradovich on DSK3GMQ082PROD with RULES2
Low
‘‘Very Small’’—less than 1.6 ............................................................................
‘‘Low’’—1.7 to 2.7 ............................................................................................
‘‘Medium’’—2.8 to 3.9 ......................................................................................
‘‘High’’—over 4.0 ..............................................................................................
Propane
($/year)
High
*
*
$130
195
Low
*
*
$151
230
* No data.
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High
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$321
485
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567
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Federal Register / Vol. 81, No. 179 / Thursday, September 15, 2016 / Rules and Regulations
13. Appendix D5 is removed.
14. Revise Appendix H to Part 305 to
read as follows:
■
Appendix H to Part 305—Cooling
Performance for Central Air
Conditioners
Range of SEER’s
Manufacturer’s rated cooling capacity
(btu’s/hr)
Low
High
Single Package Units
Central Air Conditioners (Cooling Only): All capacities ...........................................................................................
Heat Pumps (Cooling Function): All capacities .......................................................................................................
14
14
20
18.1
13
26
14
14
12
26
30.5
12.5
12
12
14
14
Split System Units
Central Air Conditioner models allowed only in northern states (listed in 305.12(g)(13)) (Cooling Only): All capacities .................................................................................................................................................................
Central Air Conditioner models allowed in all states (Cooling Only):
All capacities .....................................................................................................................................................
Heat Pumps (Cooling Function): All capacities ................................................................................................
Small-duct, high-velocity Systems ...........................................................................................................................
Space-Constrained Products
Central Air Conditioners (Cooling Only): All capacities ...........................................................................................
Heat Pumps (Cooling Function): All capacities .......................................................................................................
15. Amend Appendix L to Part 305 by
revising Prototype Label 1, revising
Sample Label 1, removing Sample Label
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10/12----t~U.S. Government
Arial Narrow
Federal law prohibils removal of this label before consumer purchase.
EnE
10/12 ---l~iefri!leral:or-Free~er
Arial Narrow Bold
• Automatic Defrost
• Side-lllountsd Freezer
• No through-the-door Ice
XYZ Corporation
lllodeiABC-l
Capacity: 23.0 Cubic Feet
Compare ONLY to other labels with yellow numbers.
Labels with yellow numbers are based on the same test procedures.
13pt
63657
1
.......--10/12
Arial Narrow Bold
16.5 pt.
Arial Narrow Bold
Arial Narrow Bold
16.5pt.
Arial Narrow Bold
......,.._ _ _ _ 50 pt.
Arial Black
9/10 pt. - - - - - ·
Arial Narrow Bold
36/14
--+-----·
Arial Black
700
kWh
Estimated Yearly Electricity Use
.......... . . . . ; = = = - + - - - - - 1 4 p t .
-----1• •
Arial Narrow Bold
Your cost will depend on your utility rates and use.
• Both cost ranges based on models of similar size capacity.
• Models with similar features have automatic defrost, side-mounted freezer, and no
through-the-door ice.
• Estimated energy cost based on a national average electricity cost of 12 cents per kWh.
10/12
Arial Narrow
Use bold
where indicated
ftc.gov/energy
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Prototype Labell -Refrigerator-Freezer
63658
Federal Register / Vol. 81, No. 179 / Thursday, September 15, 2016 / Rules and Regulations
U.S. Government
Federal law prohibits removal of this label before oonsumer purchase.
EnER
Refrigerator-Freezer
• Automatic Defrost
• Side-Mounted Freezer
• No through-the-door ice
XYZ Corporation
ModeiAB~L
Capacity: 23.0 Cubic Feet
Compare ONLY to other labels with yellow numbers.
Labels with yellow numbers are based on the same test procedures.
Estimated Yearly Energy Cost
~
~
iii
0:::
~
u
$84
...
~----------------------------------------~-
Models with
s1m1lar features
All models
$67
$90
$45
$98
~----------------------------------------~
700
kWh
Estimated Yearly Electricity Use
• Your cost will depend on your utility rates and use.
• Both cost ranges based on models of similar size capacity.
• Models with similar features have automatic defrost, side-mounted freezer, and no
through-the-door ice.
• Estimated energy cost based on a national average electricity cost of 12 cents per kWh.
ftc.gov/energy
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Federal Register / Vol. 81, No. 179 / Thursday, September 15, 2016 / Rules and Regulations
U.S. Government
63659
Federal law prohibits removal of this label before consumer purchase.
EnER
XYZ Corporation
Water Heater- Natural Gas
Tank Size (storage Capacity): 80 gallons
Model XXXXXXX.
Estimated Yearly Energy Cost
$203
I
I
•:
$208
$177
Cost Range of Similar Models
First Hour Rating
(How much hot water you get in the first hour of use)
low
very small
high
• Your cost will depend on your utility rates and use.
• Cost range based only on models fueled by natural gas with a medium
first hour rating (51-75 gallons).
• Estimated energy cost based on a national average natural gas cost
of $1.09 per therm.
• Estimated yearly energy use: 186 therms. ·
ftc.gov/energy
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u.s. Government
EnER
Central Air Conditioner
Cooling Only
Split System
XYZ Corporation
ModeiNH65
Efficiency Rating (SEER)**
13.7*
~
For energy cost info, visit
productinfo.energy.gov
13.0
26.0
Least Emcient
Most Ellicient
Range of Similar Models
.. Seasonal Energy EllicieneY Ratio
* Your air conditioner's efficiency
rating may be better depending on
the coil your contractor installs•
Notice
Federal law allows this unit to be installed only in:
AI<, CO, Cl; 10, IL, lA, IN, KS, MA,
ME, Ml, MN, MO, Mr. NO, NE, NH,
NJ, NY, OH, OR, PA, Rl, SO, UT, VT,
WA, WV, WI, WY, and U.S. tenitories.
• Installation allowed
Federal law prohibits installation of this unit in other states.
Energy Elftdency Ratio (EER): The inSialled system's minirra.m EER ill12.7.
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Federal Register / Vol. 81, No. 179 / Thursday, September 15, 2016 / Rules and Regulations
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By direction of the Commission.
Donald S. Clark,
Secretary.
*
[FR Doc. 2016–21854 Filed 9–14–16; 8:45 am]
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BILLING CODE 6750–01–C
Agencies
[Federal Register Volume 81, Number 179 (Thursday, September 15, 2016)]
[Rules and Regulations]
[Pages 63633-63661]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2016-21854]
[[Page 63633]]
Vol. 81
Thursday,
No. 179
September 15, 2016
Part III
Federal Trade Commission
-----------------------------------------------------------------------
16 CFR Part 305
Energy Labeling Rule; Final Rule
Federal Register / Vol. 81 , No. 179 / Thursday, September 15, 2016 /
Rules and Regulations
[[Page 63634]]
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FEDERAL TRADE COMMISSION
16 CFR Part 305
RIN 3084-AB15
Energy Labeling Rule
AGENCY: Federal Trade Commission (``FTC'' or ``Commission'').
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: The Commission issues final amendments to improve access to
energy labels online and improve labels for refrigerators, ceiling
fans, central air conditioners, and water heaters. The Commission is
issuing these amendments to assist consumers in their purchasing
decisions and ensure labels are consistent with Department of Energy
requirements.
DATES: The amendments to 16 CFR 305.3(x), 305.13, and Sample Label 17
of Appendix L are effective on September 17, 2018. All other amendments
published in this document are effective on June 12, 2017.
ADDRESSES: 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.
It also contains labeling requirements for refrigerators, refrigerator-
freezers, freezers, dishwashers, water heaters, clothes washers, room
air conditioners, furnaces, central air conditioners, heat pumps,
plumbing products, lighting products, ceiling fans, and televisions.
---------------------------------------------------------------------------
\1\ 44 FR 66466 (Nov. 19, 1979).
\2\ 42 U.S.C. 6294. EPCA also requires the Department of Energy
(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.
---------------------------------------------------------------------------
The Rule requires manufacturers to attach yellow EnergyGuide labels
to many of the covered products and prohibits retailers from removing
these labels or rendering them illegible. In addition, it directs
sellers, including retailers, to post label information on Web sites
and in paper catalogs from which consumers can order products.
EnergyGuide labels for most covered products contain three key
disclosures: Estimated annual energy cost; 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 cost
calculations, the Rule specifies national average costs for applicable
energy sources (e.g., electricity, natural gas, oil) as calculated by
DOE. Under the Rule, the Commission periodically updates comparability
range and annual energy cost information based on manufacturer data
submitted pursuant to the Rule's reporting requirements.\3\
---------------------------------------------------------------------------
\3\ 16 CFR 305.10.
---------------------------------------------------------------------------
II. Final Amendments to the Energy Labeling Rule
In a November 2, 2015 Notice of Proposed Rulemaking (``2015 NPRM''
or ``NPRM''), the Commission sought comment on several proposed changes
to the Energy Labeling Rule.\4\ The Commission received 17 comments in
response.\5\ Pursuant to the NPRM and these comments, this final rule
contains amendments for an online label database (label image
reporting), revised ceiling fan labels, new refrigerator comparability
range information, dual-mode refrigerator labeling, revised central air
conditioner labels, and revised water heater labels.\6\ In a separate
notice, the Commission will seek comments on issues that involve recent
DOE regulatory actions or new issues raised by commenters in this
proceeding, including portable air conditioner labeling, plumbing
disclosures changes, large ceiling fan labels, and electric
instantaneous water heater labeling.
---------------------------------------------------------------------------
\4\ 80 FR 67351 (Nov. 2, 2015).
\5\ The comments received in response to the 2015 NPRM are here:
https://www.ftc.gov/policy/public-comments/initiative-601. The
comments included: A. O. Smith Corporation (#00008); American
Lighting Association (ALA) (#00013); Association of Home Appliance
Manufacturers (AHAM) (#00016); Air Conditioning, Heating and
Refrigeration Institute (AHRI) (#00015); Amazon (#00017); Bradford
White Corporation (BWC) (#00010); CSA Group (#00007); California
Investor Owned Utilities (California IOUs) (#00019); Earthjustice
(``Joint Commenters'') (#00018); GE Appliances (GEA) (#00012);
Goodman Global, Inc. (#00020); International Association of Plumbing
and Mechanical Officials (IAPMO) (#00022); Lochinvar, LLC (#00009);
NSF International (#00005); Plumbing Manufacturers International
(PMI) (#00006); Rheem Manufacturing Company (#00014); Tyler Prough
(#00003); and Whirlpool Corporation (#00011).
\6\ The Commission also sought comment on a few of these issues
during its review of the Energy Labeling Rule. See 77 FR 15298 (Mar.
15, 2012); and 79 FR 34642 (June 18, 2014).
---------------------------------------------------------------------------
A. Online Label Database
Background: In the NPRM, the Commission sought comments on the
development of a centralized label database to provide retailers and
consumers with convenient access to energy labels.\7\ To create such a
comprehensive database, the Commission specifically proposed requiring
manufacturers to submit links to their EnergyGuide and Lighting Facts
labels through their routine report to the DOE's Compliance
Certification Management System (CCMS) pursuant to section 305.8.\8\
The NPRM explained that this proposal would give online retailers
access to digital labels for advertising or label replacement,
obviating the need to obtain labels from individual manufacturers. The
Commission explained that access to a single comprehensive database
containing all the covered labels would benefit both consumers and
retailers. Retailers could use the data for advertising and replacing
missing labels for their display models, and consumers could use it to
easily research comparative efficiency.\9\
---------------------------------------------------------------------------
\7\ The Commission also sought comments on this issue in a June
18, 2014 Supplemental Notice of Proposed Rulemaking (SNPRM) (79 FR
34642). As explained in an earlier final rule, this requirement
would not apply to private labelers, but manufacturers would be
allowed to arrange with third parties, including private labelers,
to display the labels and to submit the required links to CCMS. See
78 FR 2200, 2205 (Jan. 10, 2013).
\8\ See 10 CFR 429.12. The proposed requirement stems from
EPCA's mandate that manufacturers ``provide'' a label, the
Commission's general authority to require manufacturers to submit
information, and the Commission's authority to specify the manner in
which labels are displayed. 42 U.S.C. 6296(a) and (b); 42 U.S.C.
6294(c)(3).
\9\ In January 2013, the Commission amended section 305.6 of the
Rule to require manufacturers to make copies of their EnergyGuide
and Lighting Facts labels available on a publicly accessible Web
site. See 78 FR 2200, 2205 (Jan. 10, 2013). In doing so, the
Commission aimed to improve the availability of online labels for
retailers that sell covered products online.
---------------------------------------------------------------------------
In the NPRM, the Commission predicted this proposal was unlikely to
create undue burdens on manufacturers. The current Rule already
requires manufacturers to post product labels on their own sites.\10\
It also requires manufacturers of most covered products to submit
annual reports, although such reporting requirements are largely
harmonized with DOE's. The proposed FTC requirements would allow
manufacturers to submit their label links through DOE's CCMS. Under the
proposal, manufacturers would submit the label links prior to
distributing their
[[Page 63635]]
products in commerce, consistent with current labeling requirements.
The Commission also explained that it planned to give industry members
ample time to make any necessary changes to their Web sites to
facilitate compliance.
---------------------------------------------------------------------------
\10\ 16 CFR 305.6.
---------------------------------------------------------------------------
Comments: The commenters split in their support of the proposed
reporting requirements. Appliance and ceiling fan manufacturers
objected, asserting it would create burdens, questioning its utility,
and raising several legal concerns. Conversely, energy efficiency and
consumer groups, retail sellers, and heating and cooling equipment
manufacturers generally supported the proposal, while providing a few
suggestions discussed below.
Critics argued that the proposal's costs outweigh its benefits.
AHAM, representing appliance manufacturers, asserted that the label
link submissions would increase manufacturer burdens while providing
little benefit to consumers and retailers. Similarly, ALA, which
represents ceiling fan manufacturers, added that the proposal would
complicate existing requirements and pose significant added burdens.
ALA also questioned the need for the change, arguing that ceiling fan
customers are already comfortable with using existing Web sites to
comparison shop. AHAM, as well as GEA, further explained the
requirement would create difficult coordination issues between various
manufacture-related teams (e.g., engineering, design, Web site, etc.)
and would delay product deployment.\11\ According to AHAM and
Whirlpool, even short delays could cause manufacturers to miss
deadlines and significantly disrupt business, jeopardizing a
manufacturer's market position and causing financial loss. In addition,
AHAM argued that the proposal could lead to the premature disclosure of
competitive information, such as capacity and energy efficiency,
several weeks before such information is normally available to
competitors.\12\ Finally, these commenters indicated that frequent Web
site changes would pose additional compliance burdens, particularly if
manufacturers had to change their certification reports every time they
change labels on their Web site.
---------------------------------------------------------------------------
\11\ Whirlpool explained that the proposal would require it to
reverse its current process, whereby it holds off on creating Web
pages for individual models and uploading labels to its Web site
until after it receives DOE certification. According to Whirlpool,
any delay in this process would slow certification and disrupt
business. Whirlpool also explained that the proposal would require
significant coordination with private labelers, particularly when
manufacturers certify models for private labelers.
\12\ AHAM also indicated that, under current requirements, DOE
requires manufacturers to report discontinued models for a slightly
longer period of time than does the FTC.
---------------------------------------------------------------------------
In addition to these concerns about the proposal's burdens, AHAM
raised two legal objections. First, it questioned whether EPCA grants
the Commission authority to determine the content of DOE's reports.
AHAM noted that the Commission streamlined the data reporting
requirements in 2013 by permitting manufacturers to file their FTC-
required annual reports on DOE's CCMS. However, in AHAM's view, that
rulemaking differed from the present proposal because it ``did not
merge the DOE and FTC reporting requirements themselves.'' According to
AHAM, DOE is the agency with authority to require reporting on CCMS
and, thus, DOE must effect changes to those reporting requirements
through its own rulemaking. Second, AHAM argued the proposal would
force manufacturers to violate DOE rules requiring manufacturers to
certify that their covered products comply with applicable energy
conservation standards. AHAM explained that, before distributing any
basic model in commerce, manufacturers must submit a certification
report to DOE.\13\ In determining whether a model has been
``distributed in commerce,'' DOE considers several factors, including
whether the units have appeared in public marketing material (e.g., on
Web sites or in catalogs), whether such marketing material includes
energy efficiency information, and whether the manufacturer has shown
the unit at a trade show.\14\ Therefore, to avoid distributing a
product in commerce prior to certification, manufacturers typically do
not publicly release energy labels until a basic model has been
certified to DOE. AHAM warned that the FTC proposal could force
manufacturers to violate DOE requirements by forcing them to upload
their energy labels prior to DOE certification.\15\
---------------------------------------------------------------------------
\13\ See 10 CFR 429.12(a).
\14\ See, e.g., 76 FR 12422, 12426-27 (Mar. 7, 2011). EPCA
defines ``distribute in commerce'' as ``to sell in commerce, to
import, to introduce or deliver for introduction into commerce, or
to hold for sale or distribution after introduction into commerce.''
42 U.S.C. 6291(16).
\15\ Whirlpool added that the proposal could lead to similar
problems with ENERGY STAR program requirements.
---------------------------------------------------------------------------
In contrast, many commenters supported the proposal. The Joint
Commenters argued that the benefits of a centralized label database
greatly exceed the burden imposed on manufacturers. Amazon, an online
retailer that sells covered products, explained that the ``database
would allow consumers to easily research the comparative efficiency of
covered products'' and will help increase Rule compliance and decrease
mislabeling. According to Amazon, the proposal would not impose undue
burdens on manufacturers because the Rule already directs them to have
the labels available on a Web site.
However, these commenters qualified their support with several
recommendations. First, Amazon urged the Commission to require
manufacturers to submit labels ``as a stand-alone image in a
standardized format.'' It also recommended that the Rule require a UPC
(universal product code) and label date information. Second, the Joint
Commenters urged the Commission to extend the Rule to cover products
not presently subject to reporting requirements, such as specialty
consumer lamps and LED general service lamps. They asserted this
extension would help consumers compare products through DOE's database.
The Joint Commenters further suggested that, even if the FTC does not
require label reporting for those products, it should provide
manufacturers the option to submit such information. Finally, the Joint
Commenters argued that DOE enforcement guidance can easily address any
potential enforcement problems. In addition, to avoid any conflicts
with DOE's requirements, they suggested that FTC allow manufacturers to
delay activation of the Web site address submitted to CCMS for a
certain time period after submittal (e.g., seven days after
certification) so that manufacturers would not need to post labels
prior to DOE certification.
Other industry commenters offered qualified support for the
proposal. For instance, though backing the proposal generally, AHRI and
Goodman recommended the Rule allow manufacturers to submit links to a
PDF download of the labels, in addition to a URL. AHRI already
maintains an online database as part of its own directory, which
generates label PDFs for public users but not a URL link. According to
AHRI, given this current arrangement, a mandatory URL link requirement
would be costly and burdensome. Therefore, AHRI recommended the
amendments allow manufacturers to submit a link to a PDF download to
CCMS. AHRI explained that this would provide the same information as a
URL, without
[[Page 63636]]
significant additional costs and maintenance.\16\
---------------------------------------------------------------------------
\16\ AHRI also requested that section 305.6, which requires
manufacturers to maintain labels on a publicly accessible Web site
``for six months after production of that model ceases,'' be revised
to clarify that manufacturers may maintain labels online more than
six months after production for a particular model ceases.
---------------------------------------------------------------------------
Some commenters suggested that the Commission allow manufacturers
to provide a link to a general Web site containing their labels,
instead of submitting links to individual labels. Lochinvar, a water
heater manufacturer, argued this would give manufacturers flexibility
in generating and maintaining the online EnergyGuide labels. Although
Whirlpool opposed the proposal, it suggested the FTC give manufacturers
more flexibility should it finalize the proposed reporting
requirements. Specifically, it suggested the Rule allow manufacturers
to submit a link to the manufacturer's online public database housing
all EnergyGuide labels, searchable by model number. According to
Whirlpool, consumers and retailers could then access the label by
copying the model number from the CCMS into the manufacturer's site.
This approach would also provide consumers and retailers access to
additional information, such as installation instructions, use and care
guides, and product dimensions. Whirlpool also recommended that FTC
grandfather existing models currently in the CCMS to avoid the many
hours necessary for manufacturers to retrieve EnergyGuide labels for
thousands of models already in commerce.
Discussion: The final amendments require manufacturers to provide
links to their online labels as part of the Rule's reporting
requirements. Consistent with the other reporting provisions, the final
amendment allows manufacturers to submit the links to DOE's CCMS as
part of their normal FTC reporting. The new requirement will become
effective in one year. After that date, manufacturers must begin
submitting the required label links as part of all new model and annual
reports required under section 305.8.
The final Rule contains several changes and clarifications to
address commenters' concerns. First, the amendments allow manufacturers
to submit their links when they certify their models to DOE or at the
next subsequent annual report date. This eliminates concerns about
posting labels prior to DOE certification and will ensure that labels
are available online within a reasonable time period.\17\ Second, the
final Rule provides manufacturers three options for submitting label
information: (1) Through direct URL links to the labels themselves; (2)
through links to a PDF download; or (3) through a link to a Web site
from which users can obtain labels by searching through model number.
If manufacturers use the third approach, the link must take the user
directly to the search function on the manufacturer's Web site. These
three options strike a balance between ensuring the labels are
available from a central location and giving manufacturers flexibility
in managing their own Web sites.
---------------------------------------------------------------------------
\17\ For models no longer in production, manufacturers may
maintain labels online for longer than the six-month period
identified in the Rule.
---------------------------------------------------------------------------
Contrary to one suggestion, the final Rule does not grandfather
existing labels. Because some models remain in production for many
years, the requested exemption would permanently exclude long-lived
models from the database. However, to ensure manufacturers have ample
time to comply, the final Rule will not become effective for one year
after publication. Accordingly, manufacturers must begin submitting
label links for existing models at the first applicable annual
reporting date (see section 305.8) following this one-year period.
The final amendments do not include lighting products in the
reporting requirements. Current law prohibits DOE from spending funds
for the enforcement of DOE efficiency standards related to several
types of light bulbs, including many currently subject to FTC labeling
requirements.\18\ Therefore, to avoid potential DOE issues related to
this prohibition, the Commission has not included lighting products in
the new reporting requirement. It may revisit this issue at a later
date should circumstances warrant.
---------------------------------------------------------------------------
\18\ See Consolidated Appropriations Act, 2016, Pub. L. 114-113
(Div. D, Title III, Sec. 312).
---------------------------------------------------------------------------
Finally, the commenters questioned DOE and FTC authority to collect
information on DOE's Web site without a separate DOE rulemaking. The
Commission has identified no legal impediment to such an arrangement.
As previously noted, the FTC is issuing the label image reporting
requirements pursuant to its authority under EPCA. The final Rule does
not impose separate DOE requirements and, therefore, DOE need not issue
its own rule. In addition, these new FTC requirements are consistent
with existing FTC reporting provisions, which apply both to products
also covered by DOE's reporting requirements, as well as products DOE
does not cover (i.e., televisions and ceiling fans). In issuing its own
reporting requirements under section 305.8, the FTC has allowed
manufacturers to submit data through DOE's existing online database to
avoid duplication and complication.\19\ The final language clarifies
that the amendments do not ``merge'' the two agencies' reporting
requirements. Specifically, the final Rule language appears in section
305.8 (``Submission of Data'') rather than section 305.6 (``Duty to
provide labels on Web sites''), and states that manufacturers may
submit the information to DOE via CCMS in lieu of submitting it to the
Commission.
---------------------------------------------------------------------------
\19\ Prior to 2013, FTC collected energy data on covered
products separate from DOE through paper and email submissions to
the Commission itself. This arrangement required manufacturers to
submit nearly duplicative reports to DOE and FTC. However, in 2013
(78 FR 2200), the Commission streamlined and harmonized the
reporting requirements by giving manufacturers the option to report
FTC-required data through DOE's CCMS, in lieu of the traditional
practice of submitting directly to FTC. The present amendments
follow the same approach.
---------------------------------------------------------------------------
B. Improved Ceiling Fan Labels
Background: In the 2015 NPRM, the Commission proposed revising the
ceiling fan label to include estimated annual energy cost information
as the label's primary disclosure and to otherwise ensure the label is
consistent with other EnergyGuide labels. The current label, which
appears on product boxes and bears the title ``Energy Information,''
discloses airflow (cubic feet per minute), energy use (watts), and
energy efficiency (cubic feet per minute per watt) at high speed.
However, as the Commission previously stated, consumer research
suggests energy cost information is the most useful metric because it
``provides a clear, understandable tool to allow consumers to compare
the energy performance of different models.'' \20\ The label proposed
in the 2015 NPRM follows the EnergyGuide label format, consistent with
other products displayed in showrooms, such as refrigerators and
clothes washers.\21\
---------------------------------------------------------------------------
\20\ 72 FR 49948, 49951, 49953 (Aug. 29, 2007) (appliance
labels) (``The FTC's consumer research clearly indicates that cost
information is likely to assist consumers in making purchasing
decisions. While each of the designs considered has strengths and
weaknesses, on balance, the Commission believed that the adoption of
a design that presents cost as the primary disclosure would best
serve consumers.''); see also 75 FR 41696 (July 19, 2010) (light
bulb labels); 76 FR 1038 (Jan. 6, 2011) (television labels).
\21\ 80 FR 67351.
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[[Page 63637]]
In seeking comments on the label change, the Commission noted that
DOE is in the process of changing test procedures and developing new
efficiency standards for ceiling fans.\22\ As part of the test
procedure proceeding, DOE is revising various factors essential to the
label, including the representative hours of operation, a
representative or average testing speed, and a revised product scope
covered by the test procedure.\23\ In the 2015 NPRM, the Commission
announced it would wait for DOE to complete its test procedure changes
before finalizing the label. To ensure consistency with the DOE testing
requirements, the Commission proposed to adopt final DOE use and
operating assumptions for the amended label, including the hours of
operation, the representative or average speed, and the revised product
coverage.\24\ The Commission indicated it would allow a two-year
compliance period for the new label, once DOE issues its final
Rule.\25\
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\22\ See 79 FR 62522 (Oct. 17, 2014) (proposed test procedure);
79 FR 58290 (Sept. 29, 2014) (proposed standards).
\23\ DOE issued a supplemental notice for the test procedure on
June 3, 2015 (80 FR 31487).
\24\ See, e.g., 79 FR 62521.
\25\ In its test procedure Notice (79 FR at 62524 (Oct. 17,
2014)), DOE proposed a special testing approach for ``multi-mount''
fan models under the Rule's coverage. Such models can be installed
in two configurations: extended from the ceiling or flush with the
ceiling (i.e., a ``hugger'' configuration). DOE proposed to require
testing for these models at two separate configurations. Should DOE
adopt such an approach, the Commission, in its 2015 Notice, proposed
that the EnergyGuide label for these models would reflect the lowest
efficiency (cubic feet per watt) configuration, with the option of
providing a second label depicting the performance at the other
configuration.
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Comments: Commenters generally supported the proposal. For example,
the Joint Commenters noted that the two-year compliance period was
consistent with the compliance period afforded to manufacturers for the
original ceiling fan label issued in 2007 and that ceiling fan
packaging already allocates space to FTC labels. However, some
commenters raised logistical and implementation issues with the
proposal. First, industry commenters urged the Commission to coordinate
the timing of new labels with DOE efforts to revise the test procedure
and set efficiency standards. ALA emphasized that manufacturers will
need time to review the new requirements, develop and test products,
and prepare new packaging with the revised labels. It agreed that a
two-year compliance period is reasonable but encouraged the Commission
to consider delaying enforcement action for an additional 18 months to
allow for the resolution of unforeseen problems. Second, ALA raised
concerns with the label's color because some manufacturers do not use
color in printing their packages. It warned that a mandatory yellow
background would significantly increase costs in some cases. To address
this concern, ALA recommended the Rule allow a white background when a
product package does not contain color. Also, given the small sizes of
some fan packaging, it urged the Commission to ensure that the new
label is no larger than the existing label.
Discussion: The Commission has revised the ceiling fan label
consistent with its proposal. The final label's content includes new
information to reflect the content of DOE's new test procedure
published July 25, 2016.\26\ Such updates include DOE's new definition
of ``ceiling fan,'' energy information based on the new DOE-mandated
average fan speed, as well as the DOE-established hours of operation
per day (6.4). The new label also contains comparability information
based on DOE data for the products covered by the test procedure.\27\
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\26\ See 81 FR 48620.
\27\ Specifically, consistent with the current label, the label
amendments maintain two basic size categories for labeling purposes.
The amendments adjust these two bins to reflect new size categories
established by DOE: (1) Fans less than 19 inches in diameter; and
(2) fans from 19 or more inches and less than 84 inches in diameter.
The Rule does not create separate comparability categories for niche
product types recognized by DOE such as ``highly-decorative,'' belt-
driven, and hugger fans, as such separate bins do not appear
necessary to aid consumers in comparing products. The final
amendments also contain conforming changes to the reporting
requirements in section 305.8, removing the term ``at high speed''
to ensure consistency with the new DOE test procedure.
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In response to some commenter concerns, the final Rule does not
mandate a yellow background. Specifically, it indicates that the label
must be printed on a yellow or other neutral contrasting background.
This approach, also used for the Lighting Facts label, avoids imposing
increased compliance costs.
Additionally, the final Rule requires manufacturers to begin
labeling their packaging with the new label within two years of the
final Rule's publication. Manufacturers may begin using the new label
earlier, as soon as they complete testing under the new DOE test
procedure.
Finally, the final label does not apply to large-diameter fans
(i.e., fans with diameters of 84 inches or greater) and high-speed
small diameter fans, new fan categories added by DOE's test proceeding.
The DOE test procedure mandates unique operating assumptions (hours per
day) for these particular models. As a result, labels for these two
groups of fans may not offer accurate comparisons to more conventional
fans. The Commission will seek comment on the need for, and content of,
fan labels for those two product categories in a separate notice.
C. Consolidated Refrigerator Ranges
Background: Based on comments suggesting that a substantial number
of consumers consider several different configurations when shopping,
the 2015 NPRM proposed requiring disclosure of two cost ranges on the
refrigerator label: One range for the existing applicable refrigerator
configuration (e.g., side-by-side door configuration) and the other
range covering all refrigerators. The Commission previously explained
that providing cost information for all refrigerators consolidated into
a single range would facilitate comparison shopping and alert consumers
to the relative energy efficiency of various refrigerator types.\28\
Consistent with the current Rule, both range groups under the 2015
proposal would include separate ranges organized by capacity.
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\28\ 79 FR at 34651.
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The current Rule organizes refrigerator comparability ranges by
configuration (e.g., models with top-mounted freezers), designating
eight separate categories for refrigerators and three for freezers.\29\
Five of those categories (or styles) apply to automatic-defrost
refrigerator-freezers, which populate the bulk of showroom floors:
Side-by-side door models with and without through-the-door ice service;
top-mounted freezer models with and without through-the-door ice
service; and bottom-mounted freezer models.\30\ The comparability
ranges, which disclose the energy costs of the most and least efficient
model in each category, allow consumers to easily compare the energy
use of similarly configured units.
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\29\ 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.
\30\ See 16 CFR part 305, Appendices A and B. The Rule also has
other range categories for less common models, including those with
manual and partial defrost, and refrigerator-only models. In
addition, the freezer categories include upright models with
automatic defrost, upright models with manual defrost, and chest
freezers.
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In the 2015 NPRM, the Commission explained that information
submitted in earlier comments suggested that a substantial number of
consumers consider models with different features when shopping.\31\
However, as explained in previous comments, not all shoppers do so. The
proposal addressed both contingencies by allowing
[[Page 63638]]
consumers to compare the labeled product to similar models as well as
to all other refrigerators. The proposal also maintained the three
freezer categories: Upright manual defrost models (Appendix B1),
upright automatic defrost models (Appendix B2), and chest freezers
(Appendix B3) because there is no evidence that consumers typically
shop for models across these categories.
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\31\ 80 FR at 67354-5.
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Additionally, the Commission proposed updated ranges based on new
model data from the DOE database, including a new range reflecting
consolidated range data for all refrigerators. Before issuing final
refrigerator ranges, the Commission indicated that it would consider
updating the numbers based on the most recent data. It also proposed to
amend the range tables to cover bottom-mounted freezers with through-
the-door ice, a popular product subcategory currently not covered by
the various tables. To accomplish this, the proposed amendments
redesignate Appendix A7, which currently covers an obsolete category
(top-mounted freezer with through-the-door ice models). In addition,
the proposal modifies the size categories in each table to ensure
consistency in all the ranges across all sizes.\32\
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\32\ The Commission also proposed to eliminate an obsolete
reference to adjusted volume for refrigerators and freezers in the
Rule's capacity section (section 305.7(a)(b)).
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Comments: The commenters sharply split on the proposed refrigerator
label. The Joint Commenters and the California IOUs supported the
proposal, while AHAM, representing appliance manufacturers, opposed it.
The supporters argued the Commission's proposal represents a reasonable
compromise between the various available options. They explained that,
while some shoppers are committed to models with particular features,
others are more flexible and willing to trade off those features for
reduced utility bills. The Joint Commenters also asserted the two
comparison ranges on the proposed label were unlikely to confuse
consumers. They noted that the EnergyGuide labels for heat pumps
already feature two comparability ranges and have done so for nearly 30
years and that the label ``clearly indicates what each range bar
depicts.'' The California IOUs argued the proposed label would continue
to help customers understand a unit's energy cost relative to similarly
configured products, particularly since many customers continue to shop
for configurations matching their current model. These commenters
further indicated that the second range displaying the unit's energy
cost relative to a broader array of models serves to educate consumers
about their potential buying choices, and contributes to a more
informed decision-making process.
While they supported the overall proposal, the Joint Commenters
urged the FTC to break the ``All Models'' range into three separate
categories: Automatic defrost refrigerator-freezers, manual or partial
automatic defrost refrigerators and refrigerator-freezers, and
refrigerators with automatic defrost but no freezer. They noted that
consumers do not frequently shop for refrigerator-only models (i.e.,
refrigerators with no freezer). In their view, some consumers may be
disappointed to discover some of the high efficiency models reflected
on the range have no freezer. According to the commenters, such a
result could undermine consumer trust in EnergyGuide's comparison
ranges for other products.
In contrast, AHAM opposed a consolidated range for the refrigerator
label. Specifically, AHAM questioned the data supporting such a change.
In particular, it argued that a study of EarthJustice members submitted
in earlier comments surveyed biased respondents who may better
understand energy consumption than the average consumer. In addition,
AHAM stated that FTC has not demonstrated that consumers will
understand the proposed label or that the consolidated range will
assist their purchasing decisions. However, should FTC decide to move
forward with changes, AHAM expressed a preference for the hybrid
approach in the 2015 NPRM that includes two groups of ranges organized
by both model subcategory and the consolidated range. AHAM stated this
approach would preserve the opportunity for consumers to compare
products of similar configuration and features. AHAM also suggested
that FTC change the term ``All Models'' to indicate that the range
depicts ``all models of similar capacity'' to avoid misleading
consumers. It also asked the FTC to consider altering the current label
to reduce the black ink required. According to AHAM, the ink required
for this label increases drying times and printer jams. Finally, AHAM
and Whirlpool urged the Commission to give manufacturers between six
months and a year to implement the refrigerator changes to complete the
many necessary activities for this change, including designing and
contracting for the new labels, updating Web sites and certification
reports, and coordinating between OEMs and private labelers.
Discussion: The Commission has amended the refrigerator labels as
proposed and updated the comparability ranges. The revised label will
likely help consumers shop among models by providing two types of
comparative information, allowing consumers to compare the labeled
product to similar models as well as to all other refrigerators. This
hybrid approach reflects the likelihood that, while not all shoppers
consider different configurations, a significant number do. The final
Rule gives manufacturers nine months to implement the revised label. In
response to commenter concerns over the black ink required for the
label, the FTC staff will update the online label template for
refrigerators and clothes washers to modify the black background to
reduce the amount of ink consumed in printing the labels.\33\
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\33\ See https://www.ftc.gov/tips-advice/business-center/guidance/energyguide-labels-templates-manufacturers. In addition,
manufacturers that do not use the FTC-provided templates may alter
the black ink mix for their printers to reduce potential
malfunctions.
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The new label should aid consumers in their shopping decisions.
Information provided by commenters strongly suggests that a substantial
number of consumers consider models with different features when
shopping. The Commission agrees with AHAM that the email survey
submitted by the Joint Commenters does not offer compelling evidence
because it involved a self-selected population of respondents. However,
other information in the record suggests that a significant number of
consumers consider different model configurations when shopping. For
example, according to earlier comments, 40% of the visitors to Consumer
Reports' online refrigerator ratings in 2012 reviewed multiple
refrigerator-freezer configurations.\34\ In addition, AHAM offered data
indicating that only 46% of side-by-side refrigerator-freezer owners
and 85% of top mount refrigerator-freezer owners replaced their units
with the same
[[Page 63639]]
configuration.\35\ These numbers strongly suggest that a substantial
proportion of consumers, though not all, consider different
configurations. Other indicia of consumer shopping habits corroborate
this conclusion. Specifically, online refrigerator buying guides
routinely advise consumers about considering different configurations.
The content of such sites confirm that consumer preferences for
configuration are not pre-determined.\36\ The new label will help both
consumers who consider different configurations, and those who do not.
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\34\ 79 FR at 34651. The Joint Commenters also reasoned that
those who examined only one configuration probably considered models
with, and without, through-the-door ice dispensers, and may have
looked at an additional configuration on a subsequent visit. In
addition, the Joint Commenters pointed to AHAM information
demonstrating that more than half of side-by-side refrigerator-
freezer owners buy replacement units with a different configuration.
The commenters contended that this was probably a conservative
estimate because it does not include owners who bought similarly
configured replacement units with different features.
\35\ AHAM comments (July 16, 2012) (#560957-00023).
\36\ See, e.g., CNET (https://www.cnet.com/topics/refrigerators/buying-guide), Consumer Reports (https://www.consumerreports.org/cro/magazine-archive/2011/july/appliances/refrigerators/types/index.htm), Consumersearch (https://www.consumersearch.com/refrigerators/how-to-buy-a-refrigerator); and Good Housekeeping
(https://www.goodhousekeeping.com/appliances/refrigerator-reviews/a18621/refrigerator-buyers-guide/).
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The Commission agrees with the Joint Commenters that the label
change is unlikely to confuse consumers. The modification represents a
relatively small addition to an existing element of the label's
content; the primary focus of the label continues to be the cost of
energy measured in dollars. In addition, the new label clearly
identifies the two comparability ranges, as noted by the Joint
Commenters, and provides additional information about those ranges in
explanatory text. Accordingly, the Commission expects the two ranges
will help improve consumer understanding of the trade-offs involved
choosing a refrigerator. Although the Commission recognizes AHAM's
concern about consumer understanding of the label, commenters did not
provide evidence of confusion or of a more effective means of
presenting this information. Nevertheless, to minimize potential
concerns, the staff plans to prepare educational material about the
label change.
The final Rule does not exclude certain refrigerators (i.e.,
refrigerator-freezer models without automatic defrost and refrigerator-
only models covered by Appendices A1 through A3) from the ``All
Models'' range, as suggested by some commenters. The new range tables,
which have been updated in the final rule based on more recent DOE
data, do not reveal large differences between these models and the more
common automatic defrost models covered by Appendices A4 through
A7.\37\ In addition, excluding these models from the comparability
categories would require additional explanatory text and clutter the
label with only a marginal benefit. Similarly, the revised label does
not disclose on the range itself that the range applies to similarly
sized models. Consistent with past versions of the label, such language
appears on the lower part of the label.\38\ Including additional
information about ``similarly-sized models'' would add text and crowd
the label potentially affecting usability.\39\
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\37\ The DOE data indicate that models from Appendices A1, A2,
and A3 are available in seven of the eleven size categories. There
are few models from Appendix A1 through A3 at the higher capacity
categories. In addition, for those seven size categories that do
contain models from A1, A2, and A3, the estimated annual energy cost
difference between the highest efficiency models in A1-A3 and those
in A4-A8 is about $7 on average.
\38\ In the past, the range has simply stated ``Cost Range of
Similar Models.''
\39\ Finally, GEA requested that the FTC update the capacity
disclosure on the sample refrigerator label so that it conveys
capacity to the nearest tenth, consistent with the Rule at section
305.7. GEA also request a clarification that the product attributes
(e.g., bottom-mount freezer) included on labels match those
described in the Rule at Appendix L. According to GEA, some
manufacturers place additional product descriptors on their labels
not identified in the Rule. The amendments address these two issues.
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D. Dual Mode Refrigerator-Freezers
The final Rule contains an amendment related to dual mode
refrigerator-freezers. In the NPRM, the Commission proposed adding a
new provision addressing covered refrigerator models that can operate
either as a refrigerator or a freezer under the DOE rules, depending on
user settings. In 2014, DOE announced that these convertible models
must be tested and certified to meet efficiency standards applicable to
both refrigerators and freezers.\40\ AHAM sought clarification on
labeling these products, suggesting that, consistent with
manufacturers' labeling practices, convertible products be labeled with
the most energy intensive configuration. In the 2015 NPRM, the
Commission agreed with this approach because it ensured that labels for
these products do not underestimate a product's energy cost. Therefore,
the proposed Rule stated that these products should be labeled with the
most energy intensive configuration.\41\ In response to the 2015 NPRM,
AHAM supported the Commission's proposal, and no other commenters
addressed the issue. Accordingly, the final Rule includes the proposed
amendments for the dual mode refrigerator-freezers.
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\40\ 79 FR 22320 (Apr. 21, 2014). The amendments also contain a
minor correction to the metric conversions for label sizes in
section 305.11(a).
\41\ 80 FR at 67356.
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E. Heating and Cooling Equipment Label Requirements
Background: In the 2015 NPRM, the Commission proposed several
amendments to the heating and cooling equipment label requirements,
including label changes related to upcoming DOE enforcement
requirements for regional standards, labels for rooftop furnace-air
conditioner systems, manufacturer name disclosures, multiple model
number disclosures, and a clarification to retailer disclosure
requirements. The Commission discusses each of these issues below.
Revised Central Air Conditioner Labels Regarding Regional
Standards: The Commission proposed several changes to the central air
conditioner label in response to changes in DOE enforcement
requirements regarding regional standards. The current EnergyGuide
labels for these products provide industry members and consumers with
information about regional efficiency standards issued by DOE in
2011.\42\ These DOE requirements impose regional efficiency standards
for split-system air conditioners and single-package air conditioners.
For all other covered heating and cooling equipment (e.g., furnaces and
boilers), the updated standards remain nationally uniform. Since
publication of the regional standards related-labels in 2013, the
Commission has issued several notices updating ranges and labels to
reflect a court-approved settlement that vacated DOE's regional
standards for furnaces.\43\
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\42\ 78 FR 8362 (Feb. 6, 2013).
\43\ See 79 FR 46985 (Aug. 12, 2014); 79 FR 52549 (Sept. 4,
2014); 79 FR 77868 (Dec. 29, 2014). On April 24, 2014, the Court of
Appeals for the D.C. Circuit approved a settlement in the DOE
litigation, which vacates and remands DOE's regional standards for
non-weatherized natural gas and mobile home furnaces and sets a two-
year timetable for DOE to propose new standards. American Public Gas
Ass'n v. DOE, No. 11-1485 (D.C. Cir. filed Dec. 23, 2011)
(DE.#1433580, May 1, 2013).
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During the fall of 2014, DOE conducted a negotiated rulemaking to
establish enforcement rules for current regional standards applicable
to central air conditioners.\44\ The current standards set a minimum
14.0 Seasonal Energy Efficiency Ratio (SEER) for the southern and
southwestern regions, a 13.0 SEER for all other areas, and separate
Energy Efficiency Rating (EER) levels for the southwest region. For a
particular condenser model, efficiency ratings vary (e.g., 13.0 to 14.2
SEER) depending on the condenser-coil combination installed in the
consumer's home. Because such variability complicates efforts to
enforce the
[[Page 63640]]
regional standards, the consensus recommendation from the negotiated
rulemaking advised DOE to determine regional compliance based on the
condenser's lowest certified rating alone, not on the system rating
(i.e., the specific condenser-coil combination) installed in a
consumer's home.\45\ For instance, if a condenser's efficiency rating
ranges from 13.0 to 14.2 SEER (depending on the coil ultimately matched
with it), the rating will be 13.0 SEER for regional standards
compliance, regardless of the coil with which it is ultimately
installed. This recommended approach to DOE's enforcement would require
revising the EnergyGuide label for central air conditioners because the
current label advises installers to ensure the rating for the system
they install in a consumer's home meets the DOE regional standards.
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\44\ See, e.g., 79 FR 45731 (Aug. 6, 2014).
\45\ See ``2014-10-24 Presentation Hand Out: Regional Standards
Enforcement Working Group, Enforcement Plan,'' Oct. 24, 2014, Energy
Efficiency and Renewable Energy Office, Department of Energy, https://www.regulations.gov/#!documentDetail;D=EERE-2011-BT-CE-0077-0070.
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To conform the FTC label to this proposed DOE enforcement
framework, the Commission proposed new labels for split-system central
air conditioners that simply identify the states in which the labeled
model may be installed.\46\ Specifically, the FTC proposed three types
of labels for split systems. First, labels for models that may be
installed anywhere (i.e., those that meet all applicable SEER and EER
thresholds) would contain the statement: ``Notice: Federal law allows
this unit to be installed in all U.S. states and territories.'' Second,
labels for models that do not meet the 14.0 SEER threshold for southern
states and southwestern states would contain a map identifying the
states in which the unit may be legally installed. For instance, a
model with a minimum rated efficiency of 13.8 SEER would contain a map
indicating that that model can be legally installed only in northern
states along with a statement that ``Federal law prohibits installation
of this unit in other states.'' Finally, labels for a model with a
minimum 14.0 SEER rating that does not meet EER minimum ratings for the
southwest region would contain a map indicating that it can be legally
installed only in northern and southern states (excluding southwestern
states), as well as a statement that installation elsewhere is
prohibited. These new label disclosures would simplify compliance by
eliminating the need for installers to compare specific system ratings
against the DOE standards.
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\46\ Such an approach is consistent with the current regional
standards labels for single package units. See, e.g., 78 FR at 8384
(sample label).
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In addition, consistent with the approach recommended by the DOE
working group, the proposed label disclosed only the efficiency rating
for lowest rated coil-condenser combination (e.g., 14.4 SEER) in lieu
of the current label's approach, which depicts a ``mini-range'' of the
high and low values associated with the labeled model's various
certified condenser-coil combinations (e.g., 13.9-15.0 SEER). The range
of ratings on the current label alerts installers and consumers that a
model's compliance with regional standards could vary depending on the
installed coil-condenser combination. However, given the enforcement
approach developed during DOE's negotiated rulemaking, such information
is no longer necessary. A single, minimum efficiency rating will
provide a simpler, more direct way to communicate the model's
performance. If a system, as actually installed, has a higher
efficiency rating than the minimum rating displayed on the label, that
installer may communicate that fact to consumers.
Rooftop Systems: The Commission also proposed amending section
305.12 to allow a single label for packaged rooftop systems, a
relatively new product consisting of a combination gas furnace and air
conditioner (or heat pump). The proposed label would reflect the
ratings for furnace and air conditioner (or heat pump) combinations as
long as the unit meets all applicable air conditioner regional
standards. For models that do not meet these standards, manufacturers
would have to use two labels because a single label would not have
space to accommodate all necessary disclosures (e.g., the annual fuel
utilization efficiency (AFUE), SEER, and regional standards map).
Manufacturer Name: In the NPRM, the Commission sought comments on
the label's disclosure of the manufacturer (or private labeler) name.
In 2013, the FTC amended the heating and cooling equipment labels to
require the manufacturer or private labeler's name. This change
occurred as part of the larger effort to create new labels consistent
with new DOE regional efficiency standards.\47\ However, the Rule's
current requirements for labels on refrigerators, clothes washers, and
other appliances (section 305.11) continue to give manufacturers or
private labelers the option to put their names on labels. To ensure the
heating and cooling labels are consistent with other EnergyGuide
labels, the Commission proposed to restore the option of including the
manufacturer or private labeler name on the label. The Commission
stated that making the manufacturer's name optional should not
negatively impact consumers. For instance, consumers do not need a
manufacturer or private labeler name to use the DOE database, including
the cost calculator, because the model number is adequate for that
purpose. In addition, because the labels are generally affixed to the
products themselves or appear on Web sites describing the product,
consumers are likely to already know the identity of the equipment's
manufacturer or private labeler.
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\47\ See 78 FR 8362 (Feb. 6, 2013). Though the proposed Rule
language in 2012 contained this change (77 FR 33337 (June 6, 2012)),
the Notice did not discuss this issue. In issuing the original
labeling rule in the 1970's, the Commission noted that the
manufacturer and private labeler name was optional on EnergyGuide
labels to ``minimize the printing burden on manufacturers who
produce covered products for private labelers. . . .'' 44 FR 66466,
66470, 66479 (November 19, 1979).
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Model Numbers: The Commission also proposed clarifying in sections
305.12(f)(3) and (g)(3) that manufacturers or private labelers may
print multiple model numbers on a single label as long as the models
share the same efficiency ratings and capacities. In the original 1979
rulemaking notice, the Commission explained that manufacturers and
private labelers could do so; however, associated language did not
appear in the Rule itself.\48\ By ensuring that all model numbers
listed in a single label share the same capacity, as well as efficiency
rating, the proposed clarification would ensure all model numbers
listed on a single label generate the same cost calculations when
entered into the DOE online database.
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\48\ See 44 FR at 66470 (``a manufacturer or private labeler may
include multiple model numbers on the label if the models have the
same capacity and consume the same amount of energy'').
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Updating Retailer Disclosure Requirements (Sec. 305.14): The
Commission also announced that it would revise the effective date for
section 305.14's disclosure requirements relating to efficiency
information that furnace and air conditioner installers must provide to
customers.\49\ In 2013, the Commission tied the effective date
[[Page 63641]]
for the new provision to the compliance date for DOE regional furnace
standards. However, because those DOE standards were subsequently
vacated,\50\ the Commission must set a new effective date. Accordingly,
the Commission proposed to update that provision to clarify that the
2013 amendment now applies.
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\49\ In 2013, as part of the regional standards label rulemaking
(78 FR 8362), the Commission updated disclosure requirements in
section 305.14 for manufacturers and retailers, including
installers. The 2013 changes required sellers to ensure that
consumers have pre-purchase access to the EnergyGuide labels for
heating and cooling equipment. Previously, the Rule required sellers
to disclose a list of information contained on the labels. The
updated Rule simplified the disclosure by requiring retailers to
provide access to the labels themselves.
\50\ See 77 FR at 77868. American Public Gas Ass'n v. DOE, No.
11-1485 (D.C. Cir. filed Dec. 23, 2011) (DE.#1433580, May 1, 2013);
(DE.# 1489805, Apr. 24, 2014).
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Comments: Regional Standards Information: The commenters generally
supported the proposed revisions to the central air conditioner labels.
AHRI explained that the state-specific information on the bottom of the
proposed label is needed to clarify where a specific model may be sold.
The Joint Commenters and the California IOUs emphasized that the label
provides an important regional standards compliance tool. They also
explained that the proposed changes accurately reflect the consensus
recommendations of the DOE working group (Appliance Standards and
Rulemaking Federal Advisory Committee (ASRAC)) convened to negotiate
compliance and enforcement implementation for those standards.\51\
However, in addition to generally supporting the proposed label, the
commenters raised several specific issues related to the proposal,
including concerns about the SEER ratings for models, comparability
ranges for the label, and the timing of the revised label. We discuss
these comments below.
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\51\ In addition, the California IOUs urged the FTC to continue
to include the EER rating, along with SEER, on the label for central
air conditioners because, in their view, EER is a more beneficial
annual energy use metric for consumers, especially as utilities move
towards peak day pricing.
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While the commenters generally supported the proposal, they
disagreed on how the label should present a model's specific SEER
rating. Industry members opposed the proposal to eliminate the model-
specific SEER and EER ranges (``mini-ranges'') for split-system air
conditioners. For example, Goodman explained that this current
information, which the Commission only recently added to the label, is
essential to fully inform consumers about the range of available
efficiencies. In Goodman and AHRI's view, the proposed single rating
approach, which depicts the lowest efficiency rating of all certified
coil-condenser combinations for the unit, would mislead some consumers
who purchase systems with much higher ratings. AHRI further contended
that the model-specific range information is helpful because it clearly
displays comparable efficiencies and its removal would unnecessarily
burden manufacturers.
The California IOUs noted that the ASRAC working group, which
included industry representation, advised DOE to determine the
``regional compliance based on the condenser's lowest certified rating
alone, not on the system rating as installed in the home.'' Thus,
according to the California IOUs, the working group consensus was to
disclose ``only the efficiency rating for the lowest rated coil-
condenser combination'' and eliminate the current model-specific
range.\52\
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\52\ The Joint Commenters recommended that outdoor units be
marked with a ``ruggedized label'' on or near the nameplate,
indicating in what regions of the country, if any, installation of
the unit is prohibited. The Joint Commenters argued this approach,
agreed upon by the DOE working group, would aid in detecting non-
compliant units. Because not all manufacturers certify their
products through AHRI, the Joint Commenters asserted that a separate
FTC requirement would ensure a level playing field.
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Some commenters also suggested changing the label's comparability
range for similar models on the market. AHRI, for example, requested
that, for split system units covered by the range table in Appendix H,
the low end of the range should be 13 SEER on labels for models allowed
in northern states only, and 14 SEER for the two other label types
described in the proposal. The current table has a low SEER of 13 for
all units. By removing the 13 SEER from the range's lower end for
products sold in southern states, the recommended change would
eliminate confusion regarding the regional standards.
Finally, the commenters addressed the timing of the labeling
changes for central air conditioners. Goodman urged the Commission to
give manufacturers the maximum lead time possible to make the proposed
changes. In its view, a longer lead time will allow industry to make
the necessary changes while simultaneously conducting product redesigns
to meet many new federal energy conservation standards. Specifically,
Goodman asked for six months and the issuance of a pre-publication
final rule to allow manufacturers to make the necessary changes.
Roof-Top Systems, Manufacturer Names on Labels, Model Numbers, and
Retailer Disclosures: The commenters also addressed the Commission's
proposals related to manufacturer names on the labels, model numbers,
combined roof-top systems, and retailer disclosures.
First, the commenters disagreed on the proposal to give
manufacturers flexibility in whether to place their name on the label.
Industry members supported this proposal. The Joint Commenters,
however, argued the Rule should require the label to bear the
manufacturer name. In their view, the name aids consumers in their
purchases because many do not see the heating and cooling equipment
(and thus the unit's nameplate) until it is installed in their home. In
addition, they argued that, though many retailers, installers, and
assemblers deal exclusively with a single manufacturer or private
labeler, that is not always the case.
Second, the commenters, such as AHRI, generally supported the
proposal to allow central air conditioner manufacturers to print
multiple model numbers on a single label as long as the models share
the same efficiency ratings and capacities. However, the Joint
Commenters urged the FTC to consider establishing a maximum limit,
either on the number of different model numbers or the amount of space
consumed by such numbers, to ensure the label's legibility.
Third, commenters (e.g., Goodman and AHRI) supported the proposal
to allow a single label on rooftop units to reflect energy usage for
furnace and ACs or HPs for single-packaged air conditioners less than
65,000 Btu/h with gas heat. No commenters opposed the proposal.
Finally, no commenters opposed the proposal to clarify the retailer
disclosure provisions in Sec. 305.14.
Discussion: Regional Standards Label for Central Air Conditioners.
The Commission issues the final labels as proposed, including the three
proposed label categories related to regional standards, but without
the ``mini-range'' for split-system units.\53\ In addition, as
suggested by AHRI, the final central air conditioner label has a
different SEER range for products that qualify for different regions.
Specifically, for products that can be sold only in northern states,
the low end of the range is 13 SEER. For other products, the low end is
14 SEER. This change will minimize confusion by eliminating comparative
information related to models that may not be available for sale in
certain regions due to the DOE standards. The Rule requires
manufacturers to begin using the revised label nine months after the
Commission publishes the amendments.
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\53\ DOE issued final enforcement rules for regional standards
on July 14, 2016 (81 FR 45387).
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Consistent with the proposal and contrary to AHRI's recommendation,
the final label includes the lowest SEER rating associated with the
labeled model
[[Page 63642]]
but not the model-specific range of ratings. As noted by some
commenters, this simplified disclosure is consistent with the ASRAC
discussions and recommendations. In addition, in initially issuing
labels related to regional standards several years ago, the Commission
included the installed range for individual systems to help installers
and consumers determine whether an installed system met applicable
regional standards. The Commission predicated the disclosure on the
assumption that the regional standards would apply to the system's
installed efficiency rating. However, that assumption no longer applies
because DOE plans to enforce the regional standards based on the lowest
rated efficiency rating, rather than the rating of the systems as
installed. Accordingly, the ``mini-range'' on the current label is no
longer necessary. The single number will make it easier for installers
to determine regional compliance.\54\ Also, with the single number,
there is no risk that the label will mislead consumers into believing
their installed system's efficiency is higher than it actually is.
Finally, installers will have a clear incentive to inform consumers
about higher efficiency combinations.
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\54\ The 2015 NPRM did not discuss conforming changes to the
heat pump labels. Since these products are not subject to DOE's
regional standards, the final amendments do not change those labels.
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Roof-Top Systems, Manufacturer Names on Labels, Model Numbers, and
Updates to Retailer Disclosures: Finally, the final amendments contain
provisions related to combined roof-top systems, manufacturer names on
the labels, model numbers, and retailer disclosures.
First, the final amendments allow a single label to reflect energy
usage for ``rooftop systems'' (i.e., furnace and ACs or HPs for single-
packaged air conditioners less than 65,000 Btu/h with gas heat) to
reduce the burden and clutter associated with using two separate labels
for these products.
Second, the amendments allow manufacturers to include their name on
the label at their discretion, which is, as discussed above, consistent
with labels for most other covered products. For the reasons detailed
in the proposed Rule, these products are routinely sold through
contractors in consumers' homes. Therefore, the absence of the
manufacturer's name on the label should not confuse consumers.
Third, the final Rule allows multiple model numbers to appear on
labels for models that share the same capacity and efficiency ratings.
To reduce the likelihood that labels will become crowded with model
numbers, the final Rule advises that numbers must be clear and
prominent. The Rule has allowed multiple model numbers on appliance
labels for decades with no apparent problem.\55\ Should the inclusion
of multiple model numbers on labels become an issue, the Commission
will consider more prescriptive requirements in the future.\56\
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\55\ See 44 FR 66466 (Nov. 19, 1979).
\56\ Contrary to commenter suggestions, the final Rule does not
include a requirement for an all-weather disclosure on the
nameplate. Without additional information and comment, the
Commission lacks sufficient information to do so. It may consider
such requirements at a later date.
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Finally, the Commission has updated the retailer disclosure
provisions in Sec. 305.14 to clarify that the 2013 amendments now
apply.\57\
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\57\ 78 FR 8362.
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F. Water Heater Labels
Background: In the 2015 NPRM, the Commission sought comment on
modifications to water heater labels in response to a new DOE test
procedure (79 FR 40542 (July 11, 2014)).\58\ Among other things, the
new DOE test creates four categories or ``bins,'' which group models by
their ``first hour rating,'' DOE's standard measure of hot water output
for these products. The first hour rating, which appears on current
EnergyGuide labels, displays the number of gallons of hot water the
heater can supply in the first hour. The four new DOE first hour rating
bins are: Very small (first hour rating less than 18 gallons), low
(first hour rating between 18 and 51 gallons), medium (first hour
rating between 51 and 75 gallons), and high (first hour rating greater
than 75 gallons). In contrast, the Rule currently groups water heater
ranges by the first hour rating in roughly five-gallon increments
(e.g., 25-29, 30-34, 35-39 gallons, etc.). The new test procedure also
establishes a new energy efficiency metric (uniform energy factor or
``UEF'').
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\58\ DOE also published a proposed rule in April 2015 related to
a ``conversion factor'' for use under the new test procedure (80 FR
20116 (April 14, 2015)). In that Notice, DOE proposed to continue to
allow manufacturers to determine costs under existing testing
requirements and thus create ``a transition period for FTC to pursue
a rulemaking to determine whether changes are needed to the water
heater EnergyGuide label due to changes in the water heater test
procedure.'' 80 FR at 20138.
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In anticipation of these changes, the Commission proposed
amendments to the water heater label ranges to provide both: (1) Tank
capacity information and (2) first hour rating information consistent
with the four new DOE categories. Because water heaters are commonly
marketed by tank size (i.e., storage volume) and not first hour rating,
the Notice asked commenters whether the Rule should group the ranges by
tank size, and then further by first hour rating, placing the four DOE
water usage bins within such tank size categories. In addition, the
Commission proposed to use the term ``hourly hot water output'' instead
of the more technical term ``first hour rating.'' The proposal also
contains text explaining the term ``hourly hot water output.'' Under
the proposal, the label would continue to display annual energy cost as
the primary disclosure, with energy use appearing in the label's
secondary information. The Commission did not propose to add an energy
efficiency rating (i.e., energy factor) to the label.
Additionally, the Commission announced plans to update the
comparability range for water heaters to reflect the new test procedure
results and significant efficiency increases driven by the new DOE
standards.\59\ As a result of the new DOE standards, most, if not all,
electric water heaters will include heat pump technology. The
Commission, therefore, proposed revising the existing water heater
categories to eliminate the separate category for heat pump water
heaters, and combining such models into a general category for all
electric water heaters. The Commissioned expected this change would
simplify the tables and help consumers compare all electric water
heaters.\60\
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\59\ Given the absence of model energy data from the new test
procedure, the proposed amendatory language did not include proposed
tables for revised cost ranges.
\60\ The Commission also proposed to update the definition of
``water heater'' so that it is consistent with clarifying changes to
that term recently proposed by DOE. 79 FR 40541 (July 11, 2014).
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Comments: In general, the commenters agreed that the FTC should
amend the water heater label based on significant changes to the DOE
test procedure. Despite their general support for changing the label,
industry members, as discussed in detail below, raised several concerns
with the proposed label, including the ``first hour rating''
terminology, annual energy use and energy efficiency disclosures, tank
size disclosures, the comparability categories, energy factor
information, and timing of revised labels. In urging FTC to consider
these various issues, industry members asked that the FTC reconsider
the sample labels AHRI submitted with its previous comments. In their
view, these labels provide clear, concise consumer information while
not adversely affecting competition among water heater manufacturers.
Specifically, AHRI asserted that its
[[Page 63643]]
suggested labels clearly identify the new DOE size bins and inform
consumers that the labels' comparative information applies only to
water heaters within the same bin.\61\ Finally, in addition to concerns
regarding the proposed label designs, the commenters raised issues
about labels for electric instantaneous models and grid-enabled water
heaters.
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\61\ AHRI noted two minor errors on the proposed label related
to the names of the DOE first hour rating categories and the
description of the term ``hourly hot water output.'' The Commission
addresses both of these issues in the final Rule.
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First hour rating. Several industry commenters (e.g., A.O. Smith,
AHRI, and BWC) objected to the proposed label's use of the term
``hourly hot water output'' instead of ``first hour rating.'' In their
opinion, this undefined term incorrectly implies that a model will
deliver the indicated hot water volume on an hour-to-hour basis. The
commenters explained that the first hour rating only measures the first
hour's water delivery and does not necessarily apply to subsequent
operating hours.\62\ Instead of creating a new term, most industry
commenters recommended the Commission retain the ``first hour rating''
because it is a commonly accepted term employed for decades in DOE
standards, on FTC labels, and in building codes and sizing guides.\63\
Some commenters offered specific alternatives. For instance, GEA
suggested the term ``Hot Water Output'' rather than ``Hourly Hot Water
Output'' along with a clarification that the term refers to ``How much
hot water you get in 1st hour.'' Rheem suggested terms such as ``usage
category'' or ``hot water usage capability.'' Finally, Rheem and AHRI
recommended the usage category scale include not only the first hour
rating category (e.g., very small, low), but also the actual rating
number (e.g., 70 gallons) to provide more detailed information to help
consumers pick a model that meets their hot water demands.
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\62\ A.O. Smith also argued that the ``Hourly Hot Water Output''
term may conflict with applicable DOE test procedures. See 42 U.S.C.
6293(b).
\63\ Rheem noted that in DOE regulations ``first hour rating''
is defined as ``an estimate of the maximum volume of hot water that
a storage-type water heater can supply within an hour that begins
with the water heater fully heated (i.e., with all thermostats
satisfied). It is a function of both the storage volume and the
recovery rate.'' 10 CFR 430, Subpart B, Appendix E.
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Annual Energy Use in Therms and Energy Factor: The commenters
offered different views on including annual energy use and energy
factor ratings on the label. Several industry commenters (e.g., AHRI,
A.O. Smith, Rheem and BWC) recommended excluding the estimated annual
energy use in therms from the label because, in their view, most
consumers do not find that information useful.\64\ AHRI explained that
annual energy cost and therms are proportional and that users who need
such information can easily calculate ``annual therms'' from the annual
energy cost. These commenters suggested that other disclosures would be
more useful, though they did not provide examples. GEA disagreed,
arguing that the label should retain the estimated annual energy use
disclosure because it provides energy use information to consumers
without forcing them to convert those figures from the cost disclosure.
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\64\ AHRI and Rheem agreed that the ``Estimated Yearly Energy
Cost'' range chart on the label be larger and more prominent than
the first hour rating category segmented bar figure, as depicted in
the proposed FTC EnergyGuide label.
---------------------------------------------------------------------------
The California IOUs, which did not address the annual energy use
issue, suggested that the label display the model's efficiency rating
(i.e., energy factor), in addition to its energy consumption, because
it is the best indicator of a water heater's efficiency. They explained
that energy factor helps consumers determine whether a model qualifies
for utility rebates and serves as the applicable metric for gauging
compliance with DOE standards and state building codes.\65\
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\65\ In addition, for water heaters that exceed the minimum
federally required energy factor, the California IOUs recommended
FTC include the following language: ``This water heater's energy
factor is [insert percentage] percent better than the federal
minimum standard. Contact your local utility to find out if this
product qualifies for a rebate.''
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Tank Size: The commenters also took issue with including
information about tank size on the proposed label. First, several
commenters (e.g., AHRI and A.O. Smith) objected to the term ``tank
size'' and urged the Commission to use the standard industry term,
``storage vessel capacity,'' which nationally-recognized safety
standards already require on the product's rating plate.\66\ Rheem
agreed that the term ``tank size'' should not appear on the label but,
should the Commission decide to include it, suggested alternative terms
such as ``rated storage volume'' or ``rated storage capacity'' to
better reflect the terms used by DOE and the water heater industry.\67\
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\66\ See ANSI Z21.10.1-2014/CSA 4.1-2014, ``Gas water heaters,
volume I, storage water heaters with input ratings of 75,000 Btu per
hour or less.'' AHRI and A.O. Smith stressed that, if the Commission
decides to require such information on the label, the term and
number displayed should match the water heater's rating plate to
ensure consistency between the labels on the water heater.
\67\ Rheem explained that the ``actual storage water heater tank
size is comprised of dimensional measurements as well as tank
volume, so a volume measurement in gallons should not be the only
measurement describing `Tank Size.'''
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Comparability Categories and Tank Size: Similarly, industry
commenters (including A.O. Smith, AHRI, and BWC) argued the label
should not divide comparability categories by storage vessel capacity.
Rheem explained that first hour rating, which is a function of both
volume and output, better describes the amount of hot water consumers
can expect. In addition, Rheem noted that the four DOE first hour
rating categories (i.e., very small, low, medium, or high) provide
appropriate comparative information regardless of storage tank
capacity. Accordingly, industry commenters asserted that the proposed
division of categories by storage capacity is unnecessary, overly
complicated, and confusing to consumers. Instead, they recommended that
the comparability ranges reflect first hour rating categories only.
Combining range information for electric water heaters and heat
pump water heaters: The commenters (including A.O. Smith, BWC, Rheem,
AHRI, and the Joint Commenters) supported the proposal to combine the
comparability range information for electric and heat pump water
heaters. Rheem explained that this will allow consumers to gauge
operating cost differences between the two technologies and weigh them
against initial purchase prices. The Joint Commenters noted that this
proposal reflects the reality that these products compete with each
other for the same applications.\68\ Finally, AHRI urged the Commission
to clarify that the Rule's combination of existing categories for
electric water heaters and heat pumps applies only to storage water
heaters.
---------------------------------------------------------------------------
\68\ AHRI noted that electric resistance models will cluster at
the high end of the energy cost range while most heat pump water
heaters will appear at the lower end, with few, if any models, in
between.
---------------------------------------------------------------------------
Need For a Transitional Label: The commenters offered different
views about the need for additional label information about the DOE
test procedure change. GEA argued that the FTC should highlight the
transition to aid consumers in their comparison shopping. It suggested
using a modified label similar to the transitional labels employed for
refrigerators and clothes washers during the recent DOE test procedure
change for those products. AHRI and A.O. Smith disagreed, explaining
that the proposed AHRI label provides adequate information regarding
the transition by defining the new first hour categories (``bins'') and
clearly explaining how consumers should use that information. A.O.
Smith cautioned that transitional advisory
[[Page 63644]]
language would be overly confusing and soon become unnecessary.
Instead, AHRI and A.O. Smith recommended the Commission separately
educate consumers on the transition between test procedures, using
sources such as the FTC Web site.
Gallons per hour for instantaneous water heaters: The current
instantaneous water heater label provides capacity in gallons per
minute (gpm). The California IOUs recommended the instantaneous water
heater label include the model's hourly hot water output, as well as
the same ranges for hourly hot water output as the storage water
heaters (very low, small, medium, and high) for consistency. The
California IOUs argued that such a change would allow consumers to
better compare the two technologies.
Timing: AHRI asserted that the information necessary to develop
amended water heater labels is not yet available. In particular, AHRI
explained that there is no industry data from the new test procedure to
generate new comparability ranges. In addition, AHRI urged the
Commission to coordinate, to the fullest extent possible, the timing of
new labeling requirements with DOE's implementation of its revised test
procedure. Specifically, industry members (Rheem and AHRI) urged FTC to
coordinate with DOE to ensure the new label requirements coincide with
the new DOE ratings. AHRI noted that industry members are not yet using
the new UEF metrics from the revised test procedure to determine
compliance with the minimum efficiency standards because DOE has not
issued a conversion factor. The commenters suggested the Commission use
the new data to determine new comparability ranges once it becomes
available. AHRI indicated that the UEF implementation date has yet to
be determined and will be decided with DOE's publication of the final
UEF conversion factor rule.
Grid-Enabled Residential Electric Water Heaters: Commenters also
requested that the Commission consider labeling for thermal storage
grid-enabled residential electric water heaters. Utilities can operate
these models remotely to manage overall electricity load. Rheem
explained that these models, which have storage volumes greater than 75
gallons, have several unique aspects such as an activation lock and key
and communications modules. In addition, Rheem explained that these
models are not limited to residential use, and electronic utility
companies use these models as thermal storage batteries. Given these
unusual characteristics, Rheem argued that the EnergyGuide labels will
not adequately compare these models to conventional models.
Accordingly, it urged the Commission to exempt grid enabled water
heaters from EnergyGuide labeling requirements. AHRI disagreed. It
explained that DOE regulations already require a specific disclosure
addressing the appropriate use of these water heaters (see 10 CFR
430.2), which could appear on the FTC EnergyGuide label, or as a
separate label.
Electric instantaneous water heaters: AHRI also recommended the
Commission propose labels for residential electric instantaneous water
heaters, which have been excluded from the DOE test procedure in the
past. The revised DOE water heater efficiency test procedure now
includes a method to measure these models' energy use.
Discussion: In the final amendments, the Commission has revised the
water heater label to include new information consistent with the
revised DOE test procedure. Manufacturers will have nine months to
begin using the label and must base the information on the new DOE test
procedure. Consistent with the proposed label, the new label depicts
storage water heater capacity using DOE's new output categories (or
bins). The final Rule also includes new ranges for these bins derived
from DOE data developed as part of its regulatory proceeding. As
proposed and supported in the comments, the final Rule combines the
electric water heaters and heat pump water heaters for comparison
purposes.\69\
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\69\ Heat pump water heaters now fall under the comparability
range information for electric water heaters in Appendix D2.
---------------------------------------------------------------------------
In response to the comments, the Commission has made several
revisions to the proposed label. First, the final label uses the
conventional term ``first hour rating'' instead of ``hourly hot water
output.'' We agree with commenters that the latter term may suggest
that the rating applies on an hour-to-hour basis, when, in reality, it
only measures output in the first hour. To address this issue, the
final label states that ``first hour rating'' describes ``How much hot
water you get in the first hour.'' Consistent with AHRI's suggestions,
the model's first hour rating in gallons appears on the scale next to
the model's first hour rating bin (i.e., very small, low, medium, and
high) to allow for better product comparisons. Second, the label does
not sort comparability ranges by tank size (i.e., storage capacity) as
proposed, but instead limits those ranges to the four DOE water output
bins (very small, low, medium, and high). As explained by the
commenters, ``first hour rating'' best describes the hot water amount
consumers can expect the product to deliver. Therefore, including tank
size in the comparability ranges is unnecessary and potentially
confusing. However, the final label includes a storage capacity
disclosure near the top of the label. In response to commenters'
concerns about terminology, the final label uses the term ``tank size
(storage capacity),'' to ensure consistency with commonly used wording.
Finally, the label continues to include annual energy use to provide
consumers with this additional comparative information.\70\
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\70\ The revised label does not include an energy factor
disclosure, as suggested by some commenters. As the Commission
explained in a 2015 Notice, it is unclear whether consumers are
familiar with the term. In addition, such information is available
from DOE's Compliance Certification Management System (CCMS). 80 FR
67285, 67293 (Nov. 2, 2015).
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The final label, however, does not include several items proposed
by commenters. First, it does not include text regarding the new DOE
test procedure. The Commission agrees with other commenters that the
final label appropriately conveys information related to the test
procedure transition. Specifically, the label clearly defines the new
categories (``bins'') and explains how consumers should use that
information, making additional explanatory text unnecessary. Second,
the label does not contain a statement explaining how the labeled model
compares to the applicable DOE standard. Such information would clutter
the label and be potentially confusing. Finally, the labels for
instantaneous water heaters continue to convey capacity in gallons per
minute. As commenters suggest, a ``gallons per hour'' rating on an
instantaneous model may confuse or mislead consumers. Such a disclosure
is not equivalent to the ``first hour rating'' for storage models.
``Gallons per hour'' represents a continuous flow rate that the model
will continuously deliver, whereas ``first hour rating'' reflects hot
water volume delivered in the first hour.\71\
---------------------------------------------------------------------------
\71\ The FTC staff will provide a sample label template for
instantaneous water heaters on the FTC Web site for use by
manufacturers.
---------------------------------------------------------------------------
Finally, the Commission will consider seeking comment on special
labeling for grid-enabled residential electric water heaters in the
future. In the meantime, since grid-enabled water heaters meet existing
definitions for water heaters, and the Rule contains applicable
comparison ranges, manufacturers should label these models as they do
any other storage water heater. The Commission will also formally
propose
[[Page 63645]]
labels for instantaneous electric-water heaters in a later notice.
These products cannot be labeled under the current Rule because they do
not fall into an existing labeling category, and no range of
comparability exists.
III. 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 May 31,
2017 (OMB Control No. 3084-0069). The amendments make changes in the
Rule's labeling requirements that will increase the PRA burden as
detailed below.\72\ Accordingly, the Commission is seeking OMB
clearance specific to the Rule amendments.
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\72\ As indicated in the NPRM (80 FR 67363, n. 54), several
proposed labeling changes, including changes to dual mode
refrigerators, heating and cooling equipment, consolidated
comparability ranges for refrigerators, ceiling fan labels, and
water heaters should impose no additional burden beyond existing
estimates because such changes either impose no or de minimis
additional burdens, or manufacturers should be able to incorporate
the proposed changes into their normally scheduled package or label
revisions without incurring additional burdens beyond those already
accounted for. The PRA analysis for this rulemaking focuses strictly
on the information collection requirements created by and/or
otherwise affected by the amendments. Unaffected information
collection provisions have previously been accounted for in past FTC
analyses under the Rule and are covered by the current PRA clearance
from OMB.
---------------------------------------------------------------------------
Reporting Requirements (label images): The amendments require
manufacturers to furnish (as part of their normal FTC reporting) links
to images of their EnergyGuide labels. Given approximately 15,000 total
models at an estimated 1 minute per model, this requirement will entail
a burden of 250 hours. Assuming further that these reporting
requirements will be implemented by data entry workers at an hourly
wage rate of $15.79 per hour,\73\ the associated labor cost for
reporting would be approximately $3,948 per year. Any non-labor costs
associated with the reporting amendments are likely to be minimal.
---------------------------------------------------------------------------
\73\ This is an increase from the labor cost estimate in the
NPRM, attributable to an intervening annual release from the Bureau
of Labor Statistics. Within it, the mean hourly wage for ``Data
entry and information processing workers'' rose from the previously
shown amount of $15.48 to $15.79. See https://www.bls.gov/news.release/ocwage.t01.htm ``Occupational Employment and Wages--May
2015,'' Bureau of Labor Statistics, U.S. Department of Labor,
released March 30, 2016, Table 1 (``National employment and wage
data from the Occupational Employment Statistics survey by
occupation, May 2015'').
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IV. Regulatory Flexibility Act
The Regulatory Flexibility Act (RFA), 5 U.S.C. 601-612, requires
that the Commission provide an Initial Regulatory Flexibility Analysis
(IRFA) with a Proposed Rule, and a Final Regulatory Flexibility
Analysis (FRFA) with the final Rule, unless the Commission certifies
that the Rule will not have a significant economic impact on a
substantial number of small entities.\74\
---------------------------------------------------------------------------
\74\ 5 U.S.C. 603-605.
---------------------------------------------------------------------------
The Commission does not anticipate that the final amendments will
have a significant economic impact on a substantial number of small
entities. The Commission recognizes that many affected entities may
qualify as small businesses under the relevant thresholds. The
Commission does not expect, however, that the economic impact of
implementing the amendments will be significant. The Commission plans
to provide businesses with ample time to implement the requirements. In
addition, the Commission does not expect that the requirements
specified in the final amendments will have a significant impact on
affected entities.
Although the Commission certified under the RFA that the amendments
would not, if promulgated, have a significant impact on a substantial
number of small entities, the Commission has determined, nonetheless,
that it is appropriate to publish an FRFA in order to explain the
impact of the amendments on small entities as follows:
A. Description of the Reasons That Action by the Agency Is Being Taken
The Commission initiated this rulemaking to reduce the Rule's
reporting burdens, increase the availability of energy labels to
consumers while minimizing burdens on industry, and generally improve
existing requirements.
B. Issues Raised by Comments in Response to the IRFA
The Commission did not receive any comments specifically related to
the impact of the final amendments on small businesses. Comments that
involve impacts on all entities are discussed above.
C. Estimate of Number of Small Entities to Which the Amendments Will
Apply
Under the Small Business Size Standards issued by the Small
Business Administration, the standards for various affected entities
are as follows: refrigerator manufacturers--up to 1,000 employees;
other appliance manufacturers--up to 500 employees. Based on general
knowledge of the this market, the FTC staff estimates that fewer than
50 entities subject to the Rule's requirements qualify as small
businesses.
D. Projected Reporting, Recordkeeping, and Other Compliance
Requirements
The Commission recognizes that the changes will involve some
burdens on affected entities. However, the amendments should not have a
significant impact on a substantial number of small entities.
Manufacturers will have to make changes to their reporting process.
However, the Commission has provided them with ample time to
incorporate the changes into their normal Web site updates. In
addition, as detailed in the Paperwork Reduction Act analysis, the
changes will not be significant. There should be no capital costs
associated with the amendments. As estimated above, the Rule imposes
new requirements on fewer than 50 small businesses (appliance and
electronics manufacturers. The changes are likely to be made by data
entry specialists.
E. Description of Steps Taken To Minimize Significant Economic Impact,
If Any, on Small Entities, Including Alternatives
The Commission sought comment and information on the need, if any,
for alternative compliance methods that would reduce the economic
impact of the Rule on such small entities. In particular, the
Commission sought comments on whether it should delay the Rule's
effective date to provide additional time for small business compliance
and whether to reduce the amount of information catalog sellers must
provide. However, to minimize the impacts on manufacturers, the
Commission has set the effective date for most of the new requirements
at one year after publication of this document in the Federal Register
and has also modified its proposal to reduce the burden associated with
that reporting by providing manufacturers with different options for
reporting their label images (e.g., links to pdf files, Web sites,
etc.).
List of Subjects in 16 CFR Part 305
Advertising, Energy conservation, Household appliances, Labeling,
Reporting and recordkeeping requirements.
[[Page 63646]]
Final Rule
For the reasons discussed above, the Commission amends part 305 of
title 16, Code of Federal Regulations, 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. 305.3, revise paragraph (x) to read as follows:
Sec. 305.3 Description of covered products.
* * * * *
(x) Ceiling fan means a nonportable device that is suspended from a
ceiling for circulating air via the rotation of fan blades, excluding
large-diameter and high-speed small diameter fans as defined in
appendix U of subpart B of 10 CFR part 430. The requirements of this
part are otherwise limited to those ceiling fans for which the
Department of Energy has adopted and published test procedures for
measuring energy usage.
* * * * *
0
3. Amend Sec. 305.7 by revising paragraphs (a), (b), and (d) to read
as follows:
Sec. 305.7 Determinations of capacity.
* * * * *
(a) Refrigerators and refrigerator-freezers. The capacity shall be
the total refrigerated volume (VT) in cubic feet, rounded to the
nearest one-tenth of a cubic foot, as determined according to appendix
A to 10 CFR part 430, subpart B.
(b) Freezers. The capacity shall be the total refrigerated volume
(VT) in cubic feet, rounded to the nearest one-tenth of a cubic foot,
as determined according to appendix B to 10 CFR part 430, subpart B.
* * * * *
(d) Water heaters. The capacity shall be the rated storage volume
and first hour rating (for storage-type models), and gallons per minute
(for instantaneous-type models), as determined according to appendix E
to 10 CFR part 430, subpart B.
* * * * *
0
4. In Sec. 305.8:
0
a. Remove the term ``at high speed'' wherever it appears; and
0
b. Add paragraph (a)(5) to read as follows:
Sec. 305.8 Submission of data.
(a) * * *
(5) After September 15, 2017, manufacturers must begin submitting a
Web site address for the online EnergyGuide labels covered by Sec.
305.6(a) in new model and annual reports required by this section.
Manufacturers may accomplish this by either submitting a specific link
to a URL for each label, a link to a PDF download for each label, or a
link to a Web site that takes users directly to a searchable database
of the covered labels from which the label image or download may be
accessed using the model number as certified to DOE pursuant to 10 CFR
part 429 and the model number advertised in product literature. Such
label information must be submitted either at the time the model is
certified to DOE pursuant to 10 CFR part 429 or at some time on or
before the annual report date immediately following such certification.
In lieu of submitting the required information to the Commission,
manufacturers may submit such information to the Department of Energy
via the CCMS at https://regulations.doe.gov/ccms as provided by 10 CFR
429.12. The requirements in this paragraph do not apply to Lighting
Facts labels.
* * * * *
0
5. Amend Sec. 305.11 by revising paragraphs (a) and (f) to read as
follows:
Sec. 305.11 Labeling for refrigerators, refrigerator-freezers,
freezers, dishwashers, clothes washers, water heaters, room air
conditioners, and pool heaters.
(a) Layout. All energy labels for refrigerators, refrigerator-
freezers, freezers, dishwashers, clothes washers, water heaters, pool
heaters, and room air conditioners shall use one size, similar colors,
and typefaces with consistent positioning of headline, copy, and charts
to maintain uniformity for immediate consumer recognition and
readability. Trim size dimensions for all labels shall be as follows:
width must be between 5\1/4\ inches and 5\1/2\ inches (13.34 cm. and
13.97 cm.); length must be between 7\3/8\ inches (18.73 cm.) and 7\5/8\
(19.37 cm.). Copy is to be set between 27 picas and 29 picas and copy
page should be centered (right to left and top to bottom). Depth is
variable but should follow closely the prototype labels appearing at
the end of this part illustrating the basis layout. All positioning,
spacing, type sizes, and line widths should be similar to and
consistent with the prototype and sample labels in appendix L to this
part.
* * * * *
(f) Label content. (1) Headlines and texts, as illustrated in the
prototype and sample labels in appendix L to this part, are standard
for all labels.
(2) Name of manufacturer or private labeler shall, in the case of a
corporation, be deemed to be satisfied only by the actual corporate
name, which may be preceded or followed by the name of the particular
division of the corporation. In the case of an individual, partnership,
or association, the name under which the business is conducted shall be
used. Inclusion of the name of the manufacturer or private labeler is
optional at the discretion of the manufacturer or private labeler.
(3) Model number(s) will be the designation given by the
manufacturer or private labeler.
(4) Capacity or size is that determined in accordance with Sec.
305.7. For refrigerators, refrigerator-freezers, and freezers, the
capacity provided on the label shall be the model's total refrigerated
volume (VT) as determined in accordance with Sec. 305.7 and the model
description must be consistent with the categories described in
Appendices A and B to this part. Capacity for storage water heaters
shall be presented in both rated storage volume (``tank size (storage
capacity)'') and first hour rating as indicated on the sample label in
appendix L to this part.
(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.
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 to this
part. Labels for dual-mode refrigerator-freezers that can operate as
either a refrigerator or a freezer must reflect the estimated energy
cost of the model's most energy intensive configuration.
(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.
(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
[[Page 63647]]
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 to this part.
(9) Labels must contain a statement as illustrated in the prototype
labels in appendix L and specified as follows by product type:
(i) Labels for refrigerators and refrigerator-freezers must contain
a statement as illustrated in the prototype labels in appendix L and
specified as follows (fill in the blanks with the appropriate year and
energy cost figures):
Your cost will depend on your utility rates and use.
Both cost ranges based on models of similar size capacity.
[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.
ftc.gov/energy.
(ii) For refrigerators, refrigerator-freezers, and freezers and
clothes washers the label shall contain the text and graphics
illustrated in sample labels 1 and 2 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 and refrigerator-freezers, the following
sentence shall be included as part of the statement required by
paragraph (f)(9)(i) of this section:
(A) For models covered under appendix A1, the sentence shall read:
Models with similar features have automatic defrost and no freezer.
(B) For models covered under appendix A2, the sentence shall read:
Models with similar features have manual defrost.
(C) For models covered under appendix A3, the sentence shall read:
Models with similar features have partial automatic defrost.
(D) For models covered under appendix A4, the sentence shall read:
Models with similar features have automatic defrost, top-mounted
freezer, and no through-the-door ice.
(E) For models covered under appendix A5, the sentence shall read:
Models with similar features have automatic defrost, side-mounted
freezer, and no through-the-door ice.
(F) For models covered under appendix A6, the sentence shall read:
Models with similar features have automatic defrost, bottom-mounted
freezer, and no through-the-door ice.
(G) For models covered under appendix A7, the sentence shall read:
Models with similar features have automatic defrost, bottom-mounted
freezer and through-the-door ice.
(H) For models covered under appendix A8, the sentence shall read:
Models with similar features have automatic defrost, side-mounted
freezer, and through-the-door ice.
(iv) Labels for freezers must contain a statement as illustrated in
the prototype labels in appendix L and specified as follows (fill in
the blanks with the appropriate year and energy cost figures):
Your cost will depend on your utility rates and use.
[Insert statement required by Sec. 305.11(f)(10)(v).]
Estimated energy cost is based on a national average electricity
cost of __cents per kWh.
ftc.gov/energy.
(v) For freezers, the following sentence shall be included as part
of the statement required by paragraph (f)(9)(iv) of this section:
(A) For models covered under appendix B1, the sentence shall read:
Cost range based only on upright freezer models of similar capacity
with manual defrost.
(B) For models covered under appendix B2, the sentence shall read:
Cost range based only on upright freezer models of similar capacity
with automatic defrost.
(C) For models covered under appendix B3, the sentence shall read:
Cost range based only on chest and other freezer models of similar
capacity.
(vi) 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.
(vii) 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 fueled by [natural gas, oil,
propane, or electricity] with a [very small, low, medium, or large]
first hour rating ([fewer than 18 gallons, 18-50.9 gallons, 51-74.9
gallons, or greater than 75 gallons]).
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].
Estimated yearly energy use: __[kWh or therms].
ftc.gov/energy.
(viii) For instantaneous water heaters (Appendix D4), 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 models fueled by natural gas with a [very
small, low, medium, or large] gallons per minute rating ([0 to 1.6, 1.7
to 2.7, 2.8 to 4.0, or greater than 4.0]).
Estimated energy cost is based on a national average [natural gas,
or propane] cost of [__cents per kWh or $__per therm or gallon].
Estimated yearly energy use: __[kWh or therms].
ftc.gov/energy.
(ix) 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.
ftc.gov/energy.
(x) For clothes washers 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 six wash loads a week and a
national
[[Page 63648]]
average electricity cost of __cents per kWh and natural gas cost of
$__per therm.
ftc.gov/energy.
(xi) 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
6. Amend Sec. 305.12 by revising paragraphs (f)(2) and (3), adding
paragraph (f)(14), and revising paragraph (g) to read as follows:
Sec. 305.12 Labeling for central air conditioners, heat pumps, and
furnaces.
* * * * *
(f) * * *
(2) Name of manufacturer or private labeler shall, in the case of a
corporation, be deemed to be satisfied only by the actual corporate
name, which may be preceded or followed by the name of the particular
division of the corporation. In the case of an individual, partnership,
or association, the name under which the business is conducted shall be
used. Inclusion of the name of the manufacturer or private labeler is
optional at the discretion of the manufacturer or private labeler.
(3) The model's basic model number. The label may include multiple
model numbers on a single label for models as long as the models share
the same efficiency ratings and capacities and the presentation of such
information is clear and prominent.
* * * * *
(14) Manufacturers of models that qualify as both furnaces and
central air conditioners or heat pumps under DOE requirements may
combine the disclosures required by this section on one label for
models that meet all applicable DOE regional efficiency standards.
(g) Content of central air conditioner labels: Content of labels
for central air conditioners and heat pumps. (1) Headlines and texts,
as illustrated in the prototype and sample labels in appendix L to this
part.
(2) Name of manufacturer or private labeler shall, in the case of a
corporation, be deemed to be satisfied only by the actual corporate
name, which may be preceded or followed by the name of the particular
division of the corporation. In the case of an individual, partnership,
or association, the name under which the business is conducted shall be
used. Inclusion of the name of the manufacturer or private labeler is
optional at the discretion of the manufacturer or private labeler.
(3) The model's basic model number. The label may include multiple
model numbers on a single label for models as long as the models share
the same efficiency ratings and capacities and the presentation of such
information is clear and prominent.
(4) The model's capacity. Inclusion of capacity is optional at the
discretion of the manufacturer or private labeler for all models except
split-system labels, which may not disclose capacity.
(5) The seasonal energy efficiency ratio (SEER) for the cooling
function of central air conditioners as determined in accordance with
Sec. 305.5. For the heating function, the heating seasonal performance
factor (HSPF) shall be calculated for heating Region IV for the
standardized design heating requirement nearest the capacity measured
in the High Temperature Test in accordance with Sec. 305.5. In
addition, as illustrated in the sample labels in appendix L to this
part, the ratings for any split-system air conditioner condenser
evaporator coil combinations shall be the minimum rating of all
condenser-evaporator coil combinations certified to the Department of
Energy pursuant to 10 CFR part 430. The ratings for any split-system
heat pump condenser-evaporator coil combinations shall include the low
and high ratings of all condenser-evaporator coil combinations
certified to the Department of Energy pursuant to 10 CFR part 430.
(6)(i) Each cooling-only central air conditioner label shall
contain a range of comparability consisting of the lowest and highest
SEER for all cooling-only central air conditioners consistent with
sample label 7A in appendix L to this part.
(ii) Each heat pump label, except as noted in paragraph (g)(6)(iii)
of this section, shall contain two ranges of comparability. The first
range shall consist of the lowest and highest seasonal energy
efficiency ratios for the cooling side of all heat pumps consistent
with sample label 8 in appendix L to this part. The second range shall
consist of the lowest and highest heating seasonal performance factors
for the heating side of all heat pumps consistent with sample label 8
in appendix L to this part.
(iii) Each heating-only heat pump label shall contain a range of
comparability consisting of the lowest and highest heating seasonal
performance factors for all heating-only heat pumps following the
format of sample label 8 in appendix L to this part.
(7) Placement of the labeled product on the scale shall be
proportionate to the lowest and highest efficiency ratings forming the
scale.
(8) The following statement shall appear on the label in bold print
as indicated in the sample labels in appendix L to this part.
For energy cost info, visit productinfo.energy.gov.
(9) All labels on split-system condenser units must contain one of
the following three statements:
(i) For labels disclosing only the seasonal energy efficiency ratio
for cooling, the statement should read:
* Your air conditioner's efficiency rating may be better depending
on the coil your contractor installs.
(ii) For labels disclosing both the seasonal energy efficiency
ratio for cooling and the heating seasonal performance factor for
heating, the statement should read:
This system's efficiency ratings depend on the coil your contractor
installs with this unit. The heating efficiency rating varies slightly
in different geographic regions. Ask your contractor for details.
(iii) For labels disclosing only the heating seasonal performance
factor for heating, the statement should read:
This system's efficiency rating depends on the coil your contractor
installs with this unit. The efficiency rating varies slightly in
different geographic regions. Ask your contractor for details.
(10) The following statement shall appear at the top of the label
as illustrated in the sample labels in appendix L of this part:
Federal law prohibits removal of this label before consumer
purchase.
(11) For any single-package air conditioner with a minimum Energy
Efficiency Ratio (EER) of at least 11.0, any split system central air
conditioner with a rated cooling capacity of at least 45,000 Btu/h and
minimum efficiency ratings of at least 14 SEER and 11.7 EER, and any
split-system central air conditioners with a rated cooling capacity
less than 45,000 Btu/h and minimum efficiency ratings of at least 14
SEER and 12.2 EER, the label must contain the following regional
standards information:
(i) A statement that reads:
Notice Federal law allows this unit to be installed in all U.S.
states and territories.
(ii) For split systems, a statement that reads:
Energy Efficiency Ratio (EER): The installed system's minimum EER
is __.
(iii) For single-package air conditioners, a statement that reads:
Energy Efficiency Ratio (EER): This model's EER is [__].
[[Page 63649]]
(12) For any split system central air conditioner with a rated
cooling capacity of at least 45,000 Btu/h and minimum efficiency
ratings of at least 14 SEER but lower than 11.7 EER, and any split-
system central air conditioners with a rated cooling capacity less than
45,000 Btu/h and minimum efficiency ratings of at least 14 SEER but
lower than 12.2 EER, the label must contain the following regional
standards information.
(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
7A in appendix L.
(iii) A statement that reads:
Energy Efficiency Ratio (EER): The installed system's minimum EER
is __.
(13) For any split system central air conditioner with a minimum
rated efficiency rating less than 14 SEER, the label must contain the
following regional standards information:
(i) A statement that reads:
Notice Federal law allows this unit to be installed only in: AK,
CO, CT, ID, IL, IA, IN, KS, MA, ME, MI, MN, MO, MT, ND, NE., NH, NJ,
NY, OH, OR, PA, RI, SD, UT, 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
8 in appendix L.
(iii) A statement that reads:
Energy Efficiency Ratio (EER): The installed system's minimum EER
is __.
(14) For any single-package air conditioner with a minimum EER
below 11.0, the label must contain the following regional standards
information consistent with sample label 7A 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
7A in appendix L.
(15) No marks or information other than that specified in this part
shall appear on or directly adjoining this label except that:
(i) A part or publication number identification may be included on
this label, as desired by the manufacturer. If a manufacturer elects to
use a part or publication number, it must appear in the lower right-
hand corner of the label and be set in 6-point type or smaller.
(ii) The energy use disclosure labels required by the governments
of Canada or Mexico may appear directly adjoining this label, as
desired by the manufacturer.
(iii) The manufacturer may include the ENERGY STAR logo on the
label for certified products in a location consistent with the sample
labels in appendix L to this part. The logo must be no larger than 1
inch by 3 inches in size. Only manufacturers that have signed a
Memorandum of Understanding with the Department of Energy or the
Environmental Protection Agency may add the ENERGY STAR logo to labels
on qualifying covered products; such manufacturers may add the ENERGY
STAR logo to labels only on those covered products that are
contemplated by the Memorandum of Understanding.
0
7. Revise Sec. 305.13(a) to read as follows:
Sec. 305.13 Labeling for ceiling fans.
(a) Ceiling fans--(1) Content. Any covered product that is a
ceiling fan, except for models 84 inches or greater in diameter and
high-speed small diameter fans as defined in 10 CFR part 430, shall be
labeled clearly and conspicuously on the package's principal display
panel with the following information on the label consistent with the
sample label in appendix L to this part:
(i) Headlines, including the title ``EnergyGuide,'' and text as
illustrated in the sample label in appendix L to this part;
(ii) The product's estimated yearly energy cost based on 6.4 hours
use per day and 12 cents per kWh;
(iii) The product's airflow expressed in cubic feet per minute and
determined pursuant to Sec. 305.5;
(iv) The product's energy use expressed in watts and determined
pursuant to Sec. 305.5 as indicated in the sample label in appendix L
of this part;
(v) The statement ``Based on 12 cents per kWh and 6.4 hours use per
day'';
(vi) The statement ``Your cost depends on rates and use'';
(vii) The statement ``All estimates based on typical use, excluding
lights'';
(viii) The statement ``The higher the airflow, the more air the fan
will move'';
(ix) The statement ``Airflow Efficiency: __Cubic Feet Per Minute
Per Watt'';
(x) The address ftc.gov/energy;
(xi) For fans less than 19 inches in diameter, the label shall
display a cost range of $10 to $50 along with the statement underneath
the range ``Cost Range of Similar Models (18'' or smaller)'';
(xii) For fans from 19 or more inches and less than 84 inches in
diameter, the label shall display a cost range of $3 to $34 along with
the statement underneath the range ``Cost Range of Similar Models
(19''-83)''.
(xiii) Placement of the labeled product on the scale proportionate
to the lowest and highest estimated annual energy costs as illustrated
in the Sample Labels in appendix L. When the estimated annual energy
cost of a given 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.
(xiv) The ENERGY STAR logo as illustrated on the ceiling fan label
illustration in Appendix L for qualified products, if desired by the
manufacturer. Only manufacturers that have signed a Memorandum of
Understanding with the Department of Energy or the Environmental
Protection Agency may add the ENERGY STAR logo to labels on qualifying
covered products; such manufacturers may add the ENERGY STAR logo to
labels only on those products that are covered by the Memorandum of
Understanding;
(2) Label size, color, and text font. The label shall be four
inches wide and three inches high. The label colors shall be black text
on a process yellow or other neutral contrasting background. The text
font shall be Arial or another equivalent font. The label's text size,
format, content, and the order of the required disclosures shall be
consistent with the ceiling fan label illustration of appendix L of
this part.
(3) Placement. The ceiling fan label shall be printed on or affixed
to the principal display panel of the product's packaging.
(4) Additional information. No marks or information other than that
specified in this part shall appear on this label, except a model name,
number, or similar identifying information.
(5) Labeling for ``multi-mount'' fans. For ``multi-mount'' fan
models that can be installed either extended from the ceiling or flush
with the ceiling, the label content must reflect the lowest efficiency
(cubic feet per watt) configuration. Manufacturers may
[[Page 63650]]
provide a second label depicting the efficiency at the other
configuration.
* * * * *
0
8. Revise Sec. 305.14 to read as follows:
Sec. 305.14 Energy information disclosures for heating and cooling
equipment.
The following provisions apply to any covered central air
conditioner, heat pump, or furnace.
(a) Manufacturer duty to provide labels. For any covered central
air conditioner, heat pump, or furnace model that a manufacturer
distributes in commerce, the manufacturer must make a copy of the
EnergyGuide label available on a publicly accessible Web site in a
manner that allows catalog sellers and consumers to hyperlink to the
label or download it for their use. The labels must remain on the Web
site for six months after the manufacturer ceases the model's
production.
(b) Distribution. (1) Manufacturers and private labelers must
provide to distributors and retailers, including assemblers,
EnergyGuide labels for covered central air conditioners, heat pumps,
and furnaces (including boilers) they sell to them. The label may be
provided in paper or electronic form (including Internet-based access).
Distributors must give this information to retailers, including
assemblers, they supply.
(2) Retailers, including assemblers, who sell covered central air
conditioners, heat pumps, and furnaces (including boilers) to consumers
must show the labels for the products they offer to customers and let
them read the labels before the customers agree to purchase the
product. For example, the retailer may display labeled units in their
store or direct consumers to the labels in a binder or computer at a
counter or service desk.
(3) Retailers, including installers and assemblers, who negotiate
or make sales at a place other than their regular places of business,
including sales over the telephone or through electronic
communications, must show the labels for the products they offer to
customers and let them read the labels before the customers agree to
purchase the product. If the labels are on a Web site, retailers,
including assemblers, who negotiate or make sales at a place other than
their regular places of business, may choose to provide customers with
instructions to access such labels in lieu of showing them a paper
version of the information. Retailers who choose to use the Internet
for the required label disclosures must provide customers the
opportunity to read such information prior to sale of the product.
(c) Oil furnace labels. If an installer installs an oil furnace
with an input capacity different from that set by the manufacturer and
the manufacturer identifies alternative capacities on the label, the
installer must permanently mark the appropriate box on the EnergyGuide
label displaying the installed input capacity and the associated AFUE
as illustrated in Sample Labels in appendix L to this part.
0
9. Revise Appendixes A1 through A8 to Part 305 to read as follows:
Appendix A1 to Part 305--Refrigerators With Automatic Defrost
Range Information
------------------------------------------------------------------------
Range of estimated annual
Manufacturer's rated total refrigerated operating costs (dollars/year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 10.5.......................... $18 $39
10.5 to 12.4............................ 30 34
12.5 to 14.4............................ 34 36
14.5 to 16.4............................ (*) (*)
16.5 to 18.4............................ 34 40
18.5 to 20.4............................ 40 41
20.5 to 22.4............................ 37 48
22.5 to 24.4............................ 45 50
24.5 to 26.4............................ (*) (*)
26.5 to 28.4............................ (*) (*)
28.5 and over........................... (*) (*)
------------------------------------------------------------------------
(*) No data.
Appendix A2 to Part 305--Refrigerators and Refrigerator-Freezers With
Manual Defrost
Range Information
------------------------------------------------------------------------
Range of estimated annual
operating costs (dollars/
Manufacturer's rated total refrigerated year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 10.5.......................... $24 $41
10.5 to 12.4............................ (*) (*)
12.5 to 14.4............................ 30 30
14.5 to 16.4............................ (*) (*)
16.5 to 18.4............................ (*) (*)
18.5 to 20.4............................ (*) (*)
20.5 to 22.4............................ (*) (*)
22.5 to 24.4............................ (*) (*)
24.5 to 26.4............................ (*) (*)
[[Page 63651]]
26.5 to 28.4............................ (*) (*)
28.5 and over........................... (*) (*)
------------------------------------------------------------------------
(*) No data.
Appendix A3 to Part 305--Refrigerator-Freezers With Partial Automatic
Defrost
Range Information
------------------------------------------------------------------------
Range of estimated annual
operating costs (dollars/
Manufacturer's rated total refrigerated year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 10.5.......................... $25 $44
10.5 to 12.4............................ (*) (*)
12.5 to 14.4............................ (*) (*)
14.5 to 16.4............................ (*) (*)
16.5 to 18.4............................ (*) (*)
18.5 to 20.4............................ (*) (*)
20.5 to 22.4............................ (*) (*)
22.5 to 24.4............................ (*) (*)
24.5 to 26.4............................ (*) (*)
26.5 to 28.4............................ (*) (*)
28.5 and over........................... (*) (*)
------------------------------------------------------------------------
(*) No data.
Appendix A4 to Part 305--Refrigerator-Freezers With Automatic Defrost
With Top-Mounted Freezer Without Through-the-Door Ice Service
Range Information
------------------------------------------------------------------------
Range of estimated annual
operating costs (dollars/
Manufacturer's rated total refrigerated year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 10.5.......................... $36 $53
10.5 to 12.4............................ 37 51
12.5 to 14.4............................ 40 55
14.5 to 16.4............................ 40 57
16.5 to 18.4............................ 43 59
18.5 to 20.4............................ 45 62
20.5 to 22.4............................ 46 63
22.5 to 24.4............................ 56 66
24.5 to 26.4............................ (*) (*)
26.5 to 28.4............................ (*) (*)
28.5 and over........................... (*) (*)
------------------------------------------------------------------------
(*) No data.
Appendix A5 to Part 305--Refrigerator-Freezers With Automatic Defrost
With Side-Mounted Freezer Without Through-the-Door Ice Service
[[Page 63652]]
Range Information
------------------------------------------------------------------------
Range of estimated annual
operating costs (dollars/
Manufacturer's rated total refrigerated year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 10.5.......................... $25 $70
10.5 to 12.4............................ (*) (*)
12.5 to 14.4............................ (*) (*)
14.5 to 16.4............................ 37 37
16.5 to 18.4............................ (*) (*)
18.5 to 20.4............................ (*) (*)
20.5 to 22.4............................ 63 86
22.5 to 24.4............................ 67 90
24.5 to 26.4............................ 69 93
26.5 to 28.4............................ 85 96
28.5 and over........................... 86 101
------------------------------------------------------------------------
(*) No data.
Appendix A6 to Part 305--Refrigerator-Freezers With Automatic Defrost
With Bottom-Mounted Freezer Without Through-the-Door Ice Service
Range Information
------------------------------------------------------------------------
Range of estimated annual
operating costs (dollars/
Manufacturer's rated total refrigerated year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 10.5.......................... $19 $62
10.5 to 12.4............................ 38 63
12.5 to 14.4............................ 49 65
14.5 to 16.4............................ 52 72
16.5 to 18.4............................ 54 73
18.5 to 20.4............................ 54 75
20.5 to 22.4............................ 58 79
22.5 to 24.4............................ 71 83
24.5 to 26.4............................ 64 81
26.5 to 28.4............................ 77 84
28.5 and over........................... 78 86
------------------------------------------------------------------------
Appendix A7 to Part 305--Refrigerator-Freezers With Automatic Defrost
With Bottom-Mounted Freezer With Through-the-Door Ice Service
Range Information
------------------------------------------------------------------------
Range of estimated annual
operating costs (dollars/
Manufacturer's rated total refrigerated year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 10.5.......................... (*) (*)
10.5 to 12.4............................ (*) (*)
12.5 to 14.4............................ (*) (*)
14.5 to 16.4............................ (*) (*)
16.5 to 18.4............................ (*) (*)
18.5 to 20.4............................ $77 $83
20.5 to 22.4............................ 79 87
22.5 to 24.4............................ 80 91
24.5 to 26.4............................ 76 93
26.5 to 28.4............................ 74 95
28.5 and over........................... 78 103
------------------------------------------------------------------------
(*) No data.
[[Page 63653]]
Appendix A8 to Part 305--Refrigerator-Freezers With Automatic Defrost
With Side-Mounted Freezer With Through-the-Door Ice Service
Range Information
------------------------------------------------------------------------
Range of estimated annual
operating costs (dollars/
Manufacturer's rated total refrigerated year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 10.5.......................... (*) (*)
10.5 to 12.4............................ (*) (*)
12.5 to 14.4............................ (*) (*)
14.5 to 16.4............................ (*) (*)
16.5 to 18.4............................ (*) (*)
18.5 to 20.4............................ $78 $78
20.5 to 22.4............................ 72 94
22.5 to 24.4............................ 81 98
24.5 to 26.4............................ 73 99
26.5 to 28.4............................ 89 104
28.5 and over........................... 82 107
------------------------------------------------------------------------
(*) No data.
0
10. Add Appendix A9 to Part 305 to read as follows:
Appendix A9 to Part 305--All Refrigerators and Refrigerator-Freezers
Range Information
------------------------------------------------------------------------
Range of estimated annual
operating costs (dollars/
Manufacturer's rated total refrigerated year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 10.5.......................... $18 $70
10.5 to 12.4............................ 30 63
12.5 to 14.4............................ 30 65
14.5 to 16.4............................ 37 72
16.5 to 18.4............................ 34 73
18.5 to 20.4............................ 40 83
20.5 to 22.4............................ 37 94
22.5 to 24.4............................ 45 98
24.5 to 26.4............................ 64 99
26.5 to 28.4............................ 74 104
28.5 and over........................... 78 107
------------------------------------------------------------------------
0
11. Revise Appendixes B1 through B3 to Part 305 to read as follows:
Appendix B1 to Part 305--Upright Freezers With Manual Defrost
Range Information
------------------------------------------------------------------------
Range of estimated annual
operating costs (dollars/
Manufacturer's rated total refrigerated year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 5.5........................... $26 $36
5.5 to 7.4.............................. 37 38
7.5 to 9.4.............................. 30 30
9.5 to 11.4............................. 31 31
11.5 to 13.4............................ 38 38
13.5 to 15.4............................ 40 40
15.5 to 17.4............................ 43 43
17.5 to 19.4............................ (*) (*)
19.5 to 21.4............................ 48 48
21.5 to 23.4............................ (*) (*)
23.5 to 25.4............................ (*) (*)
25.5 to 27.4............................ (*) (*)
27.5 to 29.4............................ (*) (*)
[[Page 63654]]
29.5 and over........................... (*) (*)
------------------------------------------------------------------------
(*) No data.
Appendix B2 To Part 305--Upright Freezers With Automatic Defrost
Range Information
------------------------------------------------------------------------
Range of estimated annual
Manufacturer's rated total refrigerated operating costs (dollars/year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 5.5........................... $32 $32
5.5 to 7.4.............................. (*) (*)
7.5 to 9.4.............................. 53 59
9.5 to 11.4............................. 59 59
11.5 to 13.4............................ 57 67
13.5 to 15.4............................ 47 73
15.5 to 17.4............................ 52 74
17.5 to 19.4............................ 54 71
19.5 to 21.4............................ 57 76
21.5 to 23.4............................ 81 87
23.5 to 25.4............................ (*) (*)
25.5 to 27.4............................ (*) (*)
27.5 to 29.4............................ (*) (*)
29.5 and over........................... (*) (*)
------------------------------------------------------------------------
(*) No data.
Appendix B3 To Part 305--Chest Freezers And All Other Freezers
Range Information
------------------------------------------------------------------------
Range of estimated annual
Manufacturer's rated total refrigerated operating costs (dollars/year)
volume in cubic feet -------------------------------
Low High
------------------------------------------------------------------------
Less than 5.5........................... $16 $27
5.5 to 7.4.............................. 24 30
7.5 to 9.4.............................. 23 31
9.5 to 11.4............................. 25 30
11.5 to 13.4............................ (*) (*)
13.5 to 15.4............................ 35 36
15.5 to 17.4............................ 33 37
17.5 to 19.4............................ 40 40
19.5 to 21.4............................ (*) (*)
21.5 to 23.4........................... 46 46
23.5 to 25.4............................ (*) (*)
25.5 to 27.4............................ (*) (*)
27.5 to 29.4............................ (*) (*)
29.5 and over........................... (*) (*)
------------------------------------------------------------------------
(*) No data.
0
12. Appendices D1 through D4 to Part 305 are revised to read as
follows:
Appendix D1 To Part 305--Water Heaters--Gas
[[Page 63655]]
Range Information
----------------------------------------------------------------------------------------------------------------
Capacity (first hour rating in gallons) Range of estimated annual energy costs (dollars/year)
----------------------------------------------------------------------------------------------------------------
Natural gas ($/year) Propane ($/year)
First hour rating ---------------------------------------------------------------
Low High Low High
----------------------------------------------------------------------------------------------------------------
``Very Small''--less than 18.................... * * * *
``Low''--18 to 50.9............................. $154 $155 * *
``Medium''--51 to 74.9.......................... 177 206 437 560
``High''--over 75............................... 225 297 506 732
----------------------------------------------------------------------------------------------------------------
* No data.
Appendix D2 to Part 305--Water Heaters Electric
Range Information
------------------------------------------------------------------------
Capacity (first hour rating in gallons) Range of estimated annual
----------------------------------------- energy costs (dollars/year)
-------------------------------
First hour rating Low High
------------------------------------------------------------------------
``Very Small''--less than 18............ * *
``Low''--18 to 50.9..................... $93 $295
``Medium''--51 to 74.9.................. 120 423
High''--over 75......................... 191 252
------------------------------------------------------------------------
* No data.
Appendix D3 to Part 305--Water Heaters--Oil
Range Information
------------------------------------------------------------------------
Capacity (first hour rating in gallons) Range of estimated annual
----------------------------------------- energy costs (dollars/year)
-------------------------------
First hour rating Low High
------------------------------------------------------------------------
``Very Small''--less than 18............ * *
``Low''--18 to 50.9..................... * *
``Medium''--51 to 74.9.................. * *
High''--over 75......................... $649 $730
------------------------------------------------------------------------
* No data.
Appendix D4 to Part 305--Water Heaters--Instantaneous-Gas
Range Information
----------------------------------------------------------------------------------------------------------------
Capacity Range of estimated annual energy costs (dollars/year)
----------------------------------------------------------------------------------------------------------------
Natural gas ($/year) Propane ($/year)
Capacity (maximum flow rate); gallons per minute ---------------------------------------------------------------
(gpm) Low High Low High
----------------------------------------------------------------------------------------------------------------
``Very Small''--less than 1.6................... * * * *
``Low''--1.7 to 2.7............................. * * * *
``Medium''--2.8 to 3.9.......................... $130 $151 $321 $372
``High''--over 4.0.............................. 195 230 485 567
----------------------------------------------------------------------------------------------------------------
* No data.
[[Page 63656]]
0
13. Appendix D5 is removed.
0
14. Revise Appendix H to Part 305 to read as follows:
Appendix H to Part 305--Cooling Performance for Central Air
Conditioners
------------------------------------------------------------------------
Range of SEER's
Manufacturer's rated cooling capacity -------------------------------
(btu's/hr) Low High
------------------------------------------------------------------------
Single Package Units
------------------------------------------------------------------------
Central Air Conditioners (Cooling Only): 14 20
All capacities.........................
Heat Pumps (Cooling Function): All 14 18.1
capacities.............................
------------------------------------------------------------------------
Split System Units
------------------------------------------------------------------------
Central Air Conditioner models allowed 13 26
only in northern states (listed in
305.12(g)(13)) (Cooling Only): All
capacities.............................
Central Air Conditioner models allowed
in all states (Cooling Only):
All capacities...................... 14 26
Heat Pumps (Cooling Function): All 14 30.5
capacities.........................
Small-duct, high-velocity Systems....... 12 12.5
------------------------------------------------------------------------
Space-Constrained Products
------------------------------------------------------------------------
Central Air Conditioners (Cooling Only): 12 14
All capacities.........................
Heat Pumps (Cooling Function): All 12 14
capacities.............................
------------------------------------------------------------------------
0
15. Amend Appendix L to Part 305 by revising Prototype Label 1,
revising Sample Label 1, removing Sample Label 1A, and revising Sample
Labels 5, 7 and 17 to read as follows:
Appendix L to Part 305--Sample Labels
* * * * *
BILLING CODE 6750-01-P
[[Page 63657]]
[GRAPHIC] [TIFF OMITTED] TR15SE16.001
* * * * *
[[Page 63658]]
[GRAPHIC] [TIFF OMITTED] TR15SE16.002
* * * * *
[[Page 63659]]
[GRAPHIC] [TIFF OMITTED] TR15SE16.003
* * * * *
[[Page 63660]]
[GRAPHIC] [TIFF OMITTED] TR15SE16.004
* * * * *
[[Page 63661]]
[GRAPHIC] [TIFF OMITTED] TR15SE16.005
* * * * *
By direction of the Commission.
Donald S. Clark,
Secretary.
[FR Doc. 2016-21854 Filed 9-14-16; 8:45 am]
BILLING CODE 6750-01-C