Energy Conservation Program: Decision and Order Granting a Waiver Store It Cold From the Department of Energy Walk-in Cooler Refrigeration System Test Procedure, 39286-39293 [2019-17082]
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Federal Register / Vol. 84, No. 154 / Friday, August 9, 2019 / Notices
speed portable air conditioner at the
83 °F outdoor condition in Table 1 of this
appendix without and with cycling
losses, respectively, in Btu/h, calculated
in section 5.5.4 of this appendix.
AEC95 = annual energy consumption for the
variable-speed portable air conditioner at
the 95 °F outdoor conditions in Table 1
of this appendix, in kWh/year,
calculated in section 5.3 of this
appendix.
AEC83_SS = annual energy consumption for a
comparable single-speed portable air
conditioner in cooling mode at the 83 °F
dry-bulb outdoor condition, in kWh/
year, calculated in section 5.5.5 of this
appendix.
AECT = total annual energy consumption for
the variable-speed portable air
conditioner attributed to all modes
except cooling, in kWh/year, calculated
in section 5.3 of this appendix.
t = number of cooling mode hours per year,
750.
k = 0.001 kWh/Wh conversion factor for
watt-hours to kilowatt-hours.
0.2 = weighting factor for the 95 °F dry-bulb
outdoor condition test.
0.8 = weighting factor for the 83 °F dry-bulb
outdoor condition test.
5.5.7 Variable-Speed Portable Air
Conditioner Performance Adjustment
Factor. Calculate the variable-speed
portable air conditioner performance
adjustment factor, Fp.
Where:
Fp = variable-speed portable air conditioner
performance adjustment factor.
CEERSS and CEERSS_CLF = combined energy
efficiency ratio for a comparable singlespeed portable air conditioner without
and with cycling losses considered,
respectively, in Btu/Wh.
5.5.8 Variable-Speed Portable Air
Conditioner Combined Energy Efficiency
Ratio. For single-duct and dual-duct
variable-speed portable air conditioners,
multiply the combined energy efficiency
ratio, CEERDD, expressed in Btu/Wh,
determined in section 5.4 by (1 + Fp) to
obtain the final CEER for variable-speed
portable air conditioners.
Where:
Fp = variable-speed portable air conditioner
performance adjustment factor,
determined in section 5.5.7 of this
appendix.’’
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IV. Application for Interim Waiver
LG also hereby applies for an interim
waiver of the applicable test procedure
requirements for the LG basic models
set forth in the Appendix. LG meets the
criteria for an interim waiver.
LG’s Petition for Waiver is likely to be
granted because the test method
contained in 10 CFR part 430, subpart
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B, Appendix CC clearly does not
address the VSC characteristics of these
LG basic models and does not properly
account for the favorable difference in
cycling losses resulting from use of VSC
technology. Thus, the test procedure
does not accurately measure these
models’ energy consumption. Without
waiver relief, LG would be subject to
requirements that are inapplicable to
these products. Additionally, LG will
suffer economic hardship and be at a
competitive disadvantage if it must wait
to rate these basic models pending a
determination on the petition for
waiver.
DOE approval of LG’s interim waiver
application is also supported by sound
public policy. These LG products
employ advanced technology that
increases efficiency and reduces energy
consumption, while offering a new level
of affordable comfort to consumers.
V. Conclusion
LG respectfully requests that DOE
grant its Petition for Waiver of the
applicable test procedure for specified
basic models, and also grant its
Application for Interim Waiver.
LG requests expedited treatment of
the Petition and Application.
Respectfully submitted,
Scott Harris/s/,
Richard C. Wingate,
Vice President, Compliance and General
Counsel.
LG Electronics USA, Inc., 1000 Sylvan
Avenue, Englewood Cliffs, NJ 07632, (201)
816 2000
Scott Blake Harris,
Stephanie Weiner,
John A. Hodges,
Harris, Wiltshire & Grannis LLP, 1919 M
Street, NW, 8th Floor, Washington, DC
20036, (202) 730–1300
Counsel to LG Electronics USA, Inc.
May 15, 2018.
Appendix
The waiver and interim waiver requested
herein should apply to testing and rating of
the following basic models that are
manufactured by LG:
LP1419IVSM
LP1419HVSM
LP1219IVSM
LP1019IVSM
LP0819IVSM
[FR Doc. 2019–17083 Filed 8–8–19; 8:45 am]
BILLING CODE 6450–01–P
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DEPARTMENT OF ENERGY
[Case Number 2018–002; EERE–2018–BT–
WAV–002]
Energy Conservation Program:
Decision and Order Granting a Waiver
Store It Cold From the Department of
Energy Walk-in Cooler Refrigeration
System Test Procedure
Office of Energy Efficiency and
Renewable Energy, Department of
Energy.
ACTION: Notice of decision and order.
AGENCY:
The U.S. Department of
Energy (‘‘DOE’’) gives notice of a
Decision and Order (Case Number
2018–002) that grants Store It Cold a
waiver from specified portions of the
DOE test procedure for determining the
energy efficiency of specified walk-in
refrigeration system models. Store It
Cold is required to test and rate
specified basic models of its walk-in
cooler refrigeration system in
accordance with the alternate test
procedure specified.
DATES: The Decision and Order is
effective on August 9, 2019. The
Decision and Order will terminate upon
the compliance date of any future
amendment to the test procedure for
walk-in cooler refrigeration systems
located at 10 CFR part 431, subpart R,
appendix C that addresses the issues
presented in this waiver. At such time,
Store It Cold must use the relevant test
procedure for this equipment for any
testing to demonstrate compliance with
the applicable standards, and any other
representations of energy use.
FOR FURTHER INFORMATION CONTACT:
Ms. Lucy deButts, U.S. Department of
Energy, Office of Energy Efficiency and
Renewable Energy, Building
Technologies Office, EE–5B, 1000
Independence Avenue, SW,
Washington, DC, 20585–0121. Email:
AS_Waiver_Requests@ee.doe.gov.
Mr. Michael Kido, U.S. Department of
Energy, Office of the General Counsel,
Mail Stop GC–33, Forrestal Building,
1000 Independence Avenue SW,
Washington, DC 20585–0103.
Telephone: (202) 586–8145. Email:
Michael.Kido@hq.doe.gov.
SUPPLEMENTARY INFORMATION: In
accordance with Title 10 of the Code of
Federal Regulations (10 CFR
431.401(f)(2)), DOE gives notice of the
issuance of its Decision and Order as set
forth below. The Decision and Order
grants Store It Cold a waiver from the
applicable test procedure at 10 CFR part
431, subpart R, appendix C for specified
basic models of walk-in cooler
refrigeration systems provided that
SUMMARY:
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Store It Cold tests and rates such
equipment using the alternate test
procedure specified in the Decision and
Order. Store It Cold’s representations
concerning the energy efficiency of the
specified basic models must be based on
testing according to the provisions and
restrictions in the alternate test
procedure set forth in the Decision and
Order, and the representations must
fairly disclose the test results.
Distributors, retailers, and private
labelers are held to the same
requirements when making
representations regarding the energy
efficiency of this equipment. (42 U.S.C.
6314(d))
Consistent with 10 CFR 431.401(j),
not later than October 8, 2019, any
manufacturer currently distributing in
commerce in the United States
equipment employing a technology or
characteristic that results in the same
need for a waiver from the applicable
test procedure must submit a petition
for waiver. Manufacturers not currently
distributing such equipment in
commerce in the United States must
petition for and be granted a waiver
prior to the distribution in commerce of
that equipment in the United States.
Manufacturers may also submit a
request for interim waiver pursuant to
the requirements of 10 CFR 431.401.
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Signed in Washington, DC, on July 30,
2019.
Alexander N. Fitzsimmons,
Acting Deputy Assistant Secretary for Energy
Efficiency, Energy Efficiency and Renewable
Energy.
I. Background and Authority
The Energy Policy and Conservation
Act of 1975, as amended (‘‘EPCA’’),1
authorizes the U.S. Department of
Energy (‘‘DOE’’) to regulate the energy
efficiency of a number of consumer
products and certain industrial
equipment. (42 U.S.C. 6291–6317) Title
III, Part C 2 of EPCA established the
Energy Conservation Program for
Consumer Products Other Than
Automobiles, which sets forth a variety
of provisions designed to improve
energy efficiency for certain types of
consumer products. These products
include walk-in cooler refrigeration
systems, the focus of this document. (42
U.S.C. 6311(1)(G))
The energy conservation program
under EPCA consists essentially of four
parts: (1) testing, (2) labeling, (3) Federal
energy conservation standards, and (4)
1 All references to EPCA in this document refer
to the statute as amended through America’s Water
Infrastructure Act of 2018, Public Law 115-270
(October 23, 2018).
2 For editorial reasons, upon codification in the
U.S. Code, Part C was redesignated as Part A-1.
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certification and enforcement
procedures. Relevant provisions of
EPCA include definitions (42 U.S.C.
6311), energy conservation standards
(42 U.S.C. 6313), test procedures (42
U.S.C. 6314), labeling provisions (42
U.S.C. 6315), and the authority to
require information and reports from
manufacturers (42 U.S.C. 6316).
The Federal testing requirements
consist of test procedures that
manufacturers of covered equipment
must use as the basis for: (1) certifying
to DOE that their equipment complies
with the applicable energy conservation
standards adopted pursuant to EPCA (42
U.S.C. 6316(a); 42 U.S.C. 6295(s)), and
(2) making representations about the
efficiency of that equipment (42 U.S.C.
6314(d)). Similarly, DOE must use these
test procedures to determine whether
the equipment complies with relevant
standards promulgated under EPCA. (42
U.S.C. 6316(a); 42 U.S.C. 6295(s)).
Under 42 U.S.C. 6314, EPCA sets forth
the criteria and procedures DOE is
required to follow when prescribing or
amending test procedures for covered
equipment. EPCA requires that any test
procedures prescribed or amended
under this section must be reasonably
designed to produce test results which
reflect energy efficiency, energy use or
estimated annual operating cost of
covered equipment during a
representative average use cycle and
requires that test procedures not be
unduly burdensome to conduct. (42
U.S.C. 6314(a)(2)) The test procedure for
walk-in cooler refrigeration systems is
contained in the Code of Federal
Regulations (‘‘CFR’’) at 10 CFR part 431,
subpart R, appendix C, – ‘‘Uniform Test
Method for the Measurement of Net
Capacity and AWEF of Walk-In Cooler
and Walk-In Freezer Refrigeration
Systems’’ (‘‘Appendix C’’).
Under 10 CFR 431.401, any interested
person may submit a petition for waiver
from DOE’s test procedure requirements
for commercial and industrial
equipment. DOE will grant a waiver
from the test procedure requirements if
DOE determines either that the basic
model for which the waiver was
requested contains a design
characteristic that prevents testing of the
basic model according to the prescribed
test procedures, or that the prescribed
test procedures evaluate the basic model
in a manner so unrepresentative of its
true energy consumption characteristics
as to provide materially inaccurate
comparative data. 10 CFR 431.401(f)(2).
DOE may grant the waiver subject to
conditions, including adherence to an
alternate test procedure. Id.
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II. Store It Cold’s Petition for Waiver:
Assertions and Determinations
By letter dated March 9, 2018, Store
It Cold filed a petition for waiver and
petition for interim waiver from the test
procedure for walk-in refrigeration
systems set forth in Appendix C, and in
response to DOE requests for technical
clarification, Store It Cold submitted a
revised petition for waiver and petition
for interim waiver on May 16, 2018.3 In
the petition, Store It Cold requested
relief for the following walk-in cooler
refrigeration system basic models:
CBLW08, CBLW10, CBLW12, CBLW15,
CBLW18, CBLW25. Store It Cold
identified these models as singlepackage dedicated refrigeration systems
comprised of a controller (i.e., the
°CoolBot® controller) and a room air
conditioner (‘‘RAC’’), which are
combined to form a walk-in refrigeration
system. Store It Cold stated in its
petition that the resulting walk-in
refrigeration systems are designated for
both indoor and outdoor use. According
to Store It Cold’s petition, the CoolBot’s
technology controls a window air
conditioner that maintains desired
temperatures, as opposed to a much
larger traditional walk-in cooler
refrigeration system that would utilize
large compressors, large surface area
coils, multiple fans, and large volumes
of refrigerant to do the same. Store It
Cold asserted in its petition that, for the
basic models listed in its petition, the
refrigerant enthalpy method (referred to
as the ‘‘‘refrigerant-side’ gross capacity’’
method by Store It Cold) yields
inconsistent refrigerant mass flow rates
and lower than expected capacities.
Store It Cold explained in its petition
that the installation of the refrigerant
mass flow meters used under this
method significantly increased the
refrigerant circuit’s internal volume,
requiring the system to be charged with
approximately twice the amount of
refrigerant as was present from the
factory. Store It Cold requested that it be
allowed to test its models using an
alternate ‘‘‘air-side’ gross capacity’’
method, in which the capacity would be
determined by measuring the enthalpy
change and mass flow rate of the air
passing through both the evaporator
side and condenser side, resulting in
two capacity measurements that would
have to match within a designated
tolerance for the test to be considered
valid. Store It Cold also requested an
interim waiver for this equipment.
3 The docket, including Store It Cold’s
submissions is located at: https://
www.regulations.gov/docket?D=EERE-2018-BTWAV-0002.
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After reviewing Store It Cold’s
application, the alternate test procedure
requested by Store It Cold, the
company’s testing and performance
data, product characteristics, and
product specification sheets published
online by Store It Cold, DOE published
a notice that announced its receipt of
the petition for waiver and granted Store
It Cold an interim waiver. 84 FR 11944
(March 29, 2019) (‘‘Notice of Petition for
Waiver’’). In the Notice of Petition for
Waiver, DOE presented Store it Cold’s
claim that the results from testing the
specified basic models according to
‘‘refrigerant-side’’ measurements
provide results unrepresentative of the
°CoolBot® walk-in cooler refrigeration
system’s actual energy consumption
characteristics and that such testing
would provide materially inaccurate
comparative data. A test photo provided
by Store It Cold shows that the
refrigerant tubing exiting the unit has
multiple bends in it without any
extended straight sections upstream and
downstream of the refrigerant mass flow
meters, which could very well have
affected the accuracy of the mass flow
measurements. Additionally, Store It
Cold stated the refrigerant tubing as
configured increased the refrigerant
circuit’s internal volume, requiring the
system to be charged with
approximately twice the amount of
refrigerant as was present from the
factory.
DOE stated in the Notice of Petition
for Waiver that for refrigeration systems
in general, it is expected that the
capacity of the system would
monotonically increase as the condenser
air temperature decreases (until further
increases are limited by refrigerant mass
flow restriction of the expansion device
for the lower condensing pressures that
would occur for lower condenser air
temperatures). 84 FR 11944, 11946. This
is because the cooler condenser air
temperature can further cool the
refrigerant such that it leaves the
condenser at lower temperature and
enthalpy, and similarly enters the
evaporator at lower enthalpy. This
increases the amount of heat the
refrigerant absorbs from the refrigerated
space as it flows through the evaporator
coil, increasing the capacity of the
evaporator. DOE noted that the
‘‘refrigerant-side’’ method test data in
Store It Cold’s petition do not follow
this trend, and that the inconsistent
results suggest that the capacity
measurements are not accurate. Id. DOE
also stated the data from testing using
the ‘‘air side’’ method follows the
expected trend, showing increasing
refrigeration capacity as condenser air
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temperature decreases for both tested
units, giving much greater confidence
that the measurements are accurate. Id.
DOE granted Store It Cold an interim
waiver requiring testing of the specified
walk-in cooler refrigeration systems
using the alternate ‘‘air-side’’ test
procedure as requested by Store It Cold.
Under the ‘‘air-side’’ method, the
refrigeration capacity is determined by
measuring the enthalpy change and
mass flow rate of the air passing through
the evaporator side (i.e., Indoor Air
Enthalpy Method) and condenser side
(i.e., Outdoor Air Enthalpy Method).
The condenser side measurement is
adjusted by subtracting the system input
power to determine refrigeration
capacity.
In the Notice of Petition for Waiver,
DOE also solicited comments from
interested parties on all aspects of the
petition and the specified alternate test
procedure Id. DOE received comments
from three commenters: (1) a group of
utilities including Pacific Gas and
Electric Company (‘‘PG&E’’), San Diego
Gas and Electric (‘‘SDG&E’’), and
Southern California Edison (‘‘SCE’’)
(hereinafter the ‘‘California IOUs’’), (2)
the Air-Conditioning, Heating, and
Refrigeration Institute (‘‘AHRI’’), and (3)
BMIL Technologies, LLC.4
The California IOUs recommended
that DOE deny the current version of the
petition for waiver and instead
recommended DOE require that Store It
Cold determine the refrigeration
capacity of the specified equipment
using a ‘‘dual Calibrated Box’’ approach,
as is prescribed by DOE for RACs, with
appropriate modifications. (California
IOUs, No. 0017 at p. 1) The California
IOUs stated that the air-side enthalpy
methods proposed in the petition for
waiver is not used for the DOE capacity
rating test procedure of either WICF or
RAC. (California IOUs, No. 0017 at p. 2)
The CA IOUs stated that the test
procedure suggested by Store It Cold is
widely used for testing ducted unit airconditioners and heat pumps, and not
appropriate for non-ducted equipment,
such as the Store It Cold models. The
California IOUs also stated that the
equipment for which the waiver is
sought is an RAC with a modified
controller to make it a WICF, rather than
a piece of unitary air-conditioning
equipment with ducts, and thus the
RAC capacity test is more appropriate
for evaluating the application.
(California IOUs, No. 0017 at p. 3) They
further stated that a dual Calibrated Box
approach would allow the airflows to
freely circulate in both the hot side and
cold side enclosures, reflecting the
actual application of the models in
question. (California IOUs, No. 0017 at
p. 3) Alternatively, they suggested that
DOE at a minimum require testing
under both the air-side enthalpy and
dual calibrated box methods and submit
the resulting data as confirmation of the
air-side enthalpy
measurements.5(California IOUs, No.
0017 at p. 4)
The California IOUs also expressed
concern that if the alternate test
procedure changes the rated capacity
and creates a lower bar to meet the
WICF standards (especially for a lowcost off-the-shelf product) it could
significantly shift segments of the
market away from compliant efficient
equipment towards equipment that
would not be compliant if tested using
the consensus test method prescribed by
DOE. (California IOUs, No. 0017 at p. 2)
The California IOUs also expressed
concern that, being based on RACs that
were not designed for walk-in
applications, the Store It Cold models
may not meet safety and consumer
protection standards and may have
reduced life as compared with the 10.5
years estimated by DOE for medium
temperature refrigeration systems.
(California IOUs, No. 0017 at pp. 4-5)
As noted in the Notice of Petition for
Wavier, the equipment for which Store
It Cold has requested a waiver are walkin cooler refrigeration systems that are
comprised, in part, of a RAC. 84 FR
11944, 11946. DOE recognizes that Store
It Cold also separately distributes in
commerce the °CoolBot® controller, i.e.,
not as part of a walk-in cooler
refrigeration system, and reiterates that
the grant of a waiver only applies to the
walk-in cooler refrigeration system basic
models identified by Store It Cold, i.e.,
the specific models listed in the Waiver
order, which contain °CoolBot®
controllers integrated by Store It Cold
with the specified RAC models.
As explained in the Notice of Petition
for Waiver, the test procedure for
determining the rated capacity under
the WICF test procedure provides
results that are unrepresentative of the
specified models’ true performance
capabilities. The test data provided by
Store It Cold indicated that the air-side
enthalpy test suggested by Store It Cold
yields more accurate results for the
basic models listed in its petition.
Additionally, multiple organizations
have established test procedures for
determining the capacity of single-
4 All comments are in the docket located at:
https://www.regulations.gov/docket?D=EERE-2018BT-WAV-0002.
5 The California IOUs comment is available in the
docket at: https://www.regulations.gov/
docket?D=EERE-2018-BT-WAV-0002.
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package air-conditioners and
refrigeration systems using the
psychrometric approach, which uses the
indoor air enthalpy method and/or the
outdoor air enthalpy method. Examples
include the following:
• ANSI/ASHRAE 58-1986 (RA 1999),
‘‘Method of Testing for Rating Room Air
Conditioner and Packaged Terminal Air
Condition Heating Capacity’’ prescribes
the use of the air enthalpy test method
to measure heating capacity of room air
conditioners and packaged terminal air
conditioners with reverse-cycle
operation to allow heating.
• ANSI/ASHRAE 16 (2016), ‘‘Method
of Testing for Rating Room Air
Conditioners and Packaged Terminal
Air Conditioners’’, the updated version
of ASHRAE 16-1983 (RA 2009), allows
both calorimetric methods similar to
ASHRAE 16-1983 (RA 2009) as well as
the psychrometric approach using the
air enthalpy method.
• DOE’s test procedure for packaged
terminal air conditioners and heat
pumps (10 CFR 431.96), allows use of
both calorimetric and psychrometric test
methods to determine cooling capacity.
• AHRI has published for comment a
draft revision of AHRI 1250, ‘‘Standard
for Performance Rating of Walk-In
Coolers and Freezers’’, which allows use
of air enthalpy methods for
measurement of refrigeration capacity
for single-package walk-in refrigeration
systems. (AHRI 1250 Draft, NO. 18 at p.
60)
Regarding the California IOUs
suggestion that the indoor air enthalpy
method is suitable only for capacity
measurement for ducted systems, DOE
notes that many non-ducted systems are
tested using this test method, for
example Central Air Conditioners and
Heat Pumps, Variable Refrigerant Flow
units, and Packaged Terminal Air
Conditioners. In addition to the systems
noted above, non-ducted systems such
as mini-split air conditioners multi-split
air conditioners also are tested using the
indoor air enthalpy method. See 10 CFR
part 430 subpart B appendix M.
Finally, with respect to the potential
food safety and product life
implications raised by the California
IOUs, DOE notes that the waiver process
addresses instances in which a basic
model contains one or more design
characteristics that prevent testing of the
basic model according to the DOE
prescribed test procedures or cause the
prescribed test procedures to evaluate
the basic model in a manner so
unrepresentative of its true energy
consumption characteristics as to
provide materially inaccurate
comparative data. 10 CFR 431.401(a)(1).
Accordingly, these particular concerns
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raised by the California IOUs lie beyond
the much more limited scope of the
waiver process. We also note that, while
DOE takes no position as to the safety
performance or longevity of the subject
basic models, the relevant portions of
the test procedure that Store It Cold
must follow as part of this waiver order
require that the equipment’s interior box
maintain a temperature of 35ßF, which
would fall within the recommended
food storage temperature range. (NSF/
ANSI 7- 2009, at p. 13 (specifying that
refrigeration equipment must be capable
of maintaining air temperature of 40°F
(4°C) or lower in all refrigerated
compartment interiors).
AHRI stated that the models for which
the waiver is requested appear to meet
the legal definition of a walk-in cooler,
and that its primary component—the
RAC—is also a DOE-covered product
that can be tested pursuant to airconditioning methods of test. AHRI
further explained that, although its
members have raised generalized
concerns about whether the waiver
seeks to sanction what its members view
as the misapplication of a RAC as a
walk-in cooler, they do not object to the
waiver, as long as it is consistent with
relevant industry-standard performance
tests for equipment. Specifically, AHRI
requested that the waiver stipulate a 75
°F wet bulb condition be applied.
(AHRI, No. 0016 at p. 1) AHRI asserted
that, similar to a room air conditioner,
the °CoolBot® system would reject
condensate to the outdoor coil, using it
to enhance outdoor coil cooling. AHRI
further states that variations in outdoor
air wet bulb temperature would lead to
inconsistent test results when compared
to the performance of a typical
evaporative condensing unit. (AHRI, No.
0016 at pp. 1-2) Specifically, AHRI
suggested that the Note 1 of Tables 3
and 4 in the Store It Cold waiver be
updated to read ‘‘Required only for
evaporative Dedicated Condensing
Units or Single-Package Dedicated
Systems that reject the condensate to the
outdoor coil.’’ 6 (AHRI, No. 0016 at p. 2)
DOE agrees that maintaining a 75 °F
wet bulb condition for the outdoor air
would be important for evaporative
condensers and units that reject
condensate to the outdoor coil.
However, DOE notes that the test
procedure for walk-in refrigeration
systems requires maintaining the
evaporator-side inlet air at a lowhumidity condition such that frost
would not form on the evaporator.
Consequently, at steady-state operating
6 AHRI comment is available in the docket at:
https://www.regulations.gov/docket?D=EERE-2018BT-WAV-0002.
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conditions, there would be no moisture
collecting on the °CoolBot® system
evaporator. Further, since the system
would have to stop operation and
undergo defrost for the moisture to melt
and turn into condensate that can be
transferred to the condenser coil, the
possibility for enhancing condenser
cooling using condensate collected at
the evaporator is even less likely.
DOE acknowledges that it is possible
that some moisture could be present—
for example, the °CoolBot® system
could be used prior to a test to help cool
the test chamber down to 35 °F. In this
case, moisture present in the room
before cooldown could collect on the
evaporator. This moisture could
possibly drain off the evaporator before
the evaporator surface is cold enough to
freeze it, or the system’s operation could
be interrupted briefly before a test is
conducted, either of which would lead
to drainage of the moisture and transfer
to the condenser side. DOE is concerned
that the quantity of this moisture
collection would be highly dependent
on the uncontrolled circumstances
occurring before the test measurement
begins (e.g., whether the unit was used
to help cool down the test chamber,
whether or not the test was conducted
during humid summer conditions when
a higher level of moisture could have
been in the chamber prior to cooldown,
whether the unit operation was stopped
to allow defrost before conducting the
test), and hence, even if the outdoor side
wet bulb temperature is maintained at
75 °F, as recommended by AHRI, the
amount of condenser cooling
enhancement could vary. DOE
concludes that a better approach to
address AHRI’s concern about the
variability is to ensure that there is no
moisture in the condensate pan on the
condenser side during the test. In this
case, the outdoor wet bulb temperature
would not affect the test result, because
there would be no evaporative cooling—
thus the outdoor wet bulb temperature
would not have to be controlled, other
than to prevent it from exceeding the
maximum limits specified for singlepackage units. Ensuring that there is no
moisture in the condenser-side
condensate pan could be done in
different ways, for example, drilling a
small hole in the bottom of the pan to
let the moisture drain out, running the
unit for a long time to evaporate any
collected moisture, or preventing the
collection of moisture in the first place
by drying out the indoor room prior to
starting operation of the test unit. The
alternate test procedure in this Order
has been modified from the procedure
in the interim waiver, to include this
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requirement to make sure that there is
no moisture in the condenser-side
condensate pan during performance
measurement test periods. It does not
specify how to ensure that the
condensate pan is dry in order to retain
flexibility in test approach.
BMIL Technologies, LLC questioned
the granting of a waiver that would
enable testing the application of air
conditioning units within an operating
range that the manufacturer does not
rate, i.e., refrigeration.7 (BMIL
Technologies, LLC, No. 0014 at p. 1)
DOE acknowledges that an RAC is not
routinely considered to be a
refrigeration system used for
commercial or industrial cooling
applications. However, in the
circumstances presented here, where a
manufacturer’s own materials and
statements assert that the pairing of its
refrigeration controls (i.e., °CoolBot®
controller) with a specified off-the-shelf
RAC satisfies the relevant walk-in
regulatory definitions and refrigerates at
a 35 °F walk-in temperature, DOE
accepts the manufacturer’s submissions
in its request for a waiver, absent
evidence to the contrary. Accordingly,
when faced with the current set of facts,
Store It Cold’s equipment is subject to
the test procedures and energy
conservation standards established for
WICF at 10 CFR part 431, subpart R. The
fact that one of the components used in
each of the specified Store It Cold basic
models can also operate as a RAC at
warmer temperatures is not relevant
under the facts at hand to the question
of whether the alternate test procedure
is appropriate for measuring the system
capacity of these models.
For the reasons explained here and in
the Notice of Petition for Waiver, absent
a waiver the basic models identified by
Store It Cold in its petition cannot be
tested and rated for energy consumption
on a basis representative of their true
energy consumption characteristics.
DOE has reviewed the recommended
procedure suggested by Store It Cold
and concludes that it will allow for the
accurate measurement of the energy use
of the equipment, subject to the
modification discussed in the prior
paragraphs, while alleviating the testing
problems associated with Store It Cold’s
implementation of DOE’s applicable
walk-in cooler refrigeration system test
procedure for the specified basic
models.
Thus, DOE is requiring that Store It
Cold test and rate the identified walkin cooler refrigeration system basic
models according to the alternate test
procedure specified in this Decision and
Order. The alternate test procedure in
this Order is a modified version of the
procedure in the interim waiver.
This Decision and Order is applicable
only to the basic models listed in the
Order and does not extend to any other
basic models. Store It Cold may request
that the scope of this waiver be
extended to include additional basic
models that employ the same
technology as those listed in this
waiver. 10 CFR 431.401(g). Store It Cold
may also submit another petition for
waiver from the test procedure for
additional basic models that employ a
different technology and meet the
criteria for test procedure waivers. 10
CFR 431.401(a)(1).
DOE notes that it may modify or
rescind the waiver at any time upon
DOE’s determination that the factual
basis underlying the petition for waiver
is incorrect, or upon a determination
that the results from the alternate test
procedure are unrepresentative of the
basic models’ true energy consumption
characteristics. 10 CFR 430.401(k)(1).
Likewise, Store It Cold may request that
DOE rescind or modify the waiver if the
company discovers an error in the
information provided to DOE as part of
its petition, determines that the waiver
is no longer needed, or for other
appropriate reasons. 10 CFR
430.401(k)(2). As set forth above, the
test procedure specified in this Decision
and Order is not the same as the test
procedure offered by Store It Cold. If
Store It Cold believes that the alternate
test method it suggested provides
representative results and is less
burdensome than the test method
required by this Decision and Order,
Store It Cold may submit a request for
modification under 10 CFR
431.401(k)(2) that addresses the
concerns that DOE has specified with
that procedure. Store It Cold may also
submit another less burdensome
alternative test procedure not expressly
considered in this notice under the
same provision.
III. Order
7 BMIL
Technologies, LLC comment is available
in the docket at: https://www.regulations.gov/
docket?D=EERE-2018-BT-WAV-0002.
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After careful consideration of all the
material that was submitted by Store It
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Cold, product specification sheets
published online by Store It Cold, and
comments received in this matter, it is
ORDERED that:
(1) Store It Cold must, as of the date
of publication of this Order in the
Federal Register, test and rate the
following walk-in cooler refrigeration
system basic models with the alternate
test procedure as set forth in paragraph
(2):
Brand
CoolBot
CoolBot
CoolBot
CoolBot
CoolBot
CoolBot
.................................
.................................
.................................
.................................
.................................
.................................
Basic Model
Number
CBLW08
CBLW10
CBLW12
CBLW15
CBLW18
CBLW25
(2) The alternate test procedure for the
Store It Cold basic models listed in
paragraph (1) of this Order is the test
procedure for walk-in cooler
refrigeration systems prescribed by DOE
at 10 CFR part 431, subpart R, appendix
C,8 except as detailed below. All other
requirements of 10 CFR part 431,
subpart R, appendix C, and DOE’s
regulations remain applicable, with the
following modifications:
In 10 CFR part 431, subpart R, appendix C,
section 3.1. General modifications: Test
Conditions and Tolerances, revise sections
3.1.1. and 3.1.4., and add instructions in a
new section 3.1.6. regarding Tables 3 and 4
of AHRI 1250-2009, to read:
3.1.1. In Table 1, Instrumentation
Accuracy, refrigerant temperature
measurements shall have a tolerance of ±0.5
F for unit cooler in/out. Temperature
measurements used to determine water vapor
content of the air shall be accurate to within
±0.4 F, ±1.0 F for all other temperature
measurements.
3.1.4. In Tables 2 through 14, the Test
Condition Outdoor Wet Bulb Temperature
requirement and its associated tolerance
apply only to units with evaporative cooling
and single-packaged dedicated systems. The
condenser-side condensate pan must be dry
during performance measurement test
periods.
3.1.6. Tables 3 and 4 shall be modified to
read as follows:
8 AHRI Standard 1250P (I-P)-2009 (‘‘AHRI 12502009’’) titled ‘‘Standard for Performance Rating of
Walk-in Coolers and Freezers’’ is incorporated by
reference in the federal test procedure at 10 CFR
431.303(b)(2). The alternate test procedure provides
amendments to 10 CFR part 431, subpart R,
appendix C that include required modifications to
AHRI 1250-2009.
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TABLE 3—FIXED CAPACITY MATCHED REFRIGERATOR SYSTEM AND SINGLE-PACKAGED DEDICATED SYSTEM, CONDENSING
UNIT LOCATED INDOOR
Test description
Unit cooler
air entering
dry-bulb,
°F
Unit cooler air
entering
relative
humidity,
(%)
Condenser
air entering
dry-bulb,
(°F)
Condenser
air entering
wet-bulb,
(°F)
Compressor capacity
Test objective
Measure fan input wattage during compressor off cycle.
Determine Net Refrigeration Capacity of
Unit Cooler, input power, and EER at
Rating Condition.
Off-cycle Fan Power .......
35
<50
¥
¥
Compressor Off .........
Refrigeration Capacity ....
35
<50
90
1 75, 2 65
Compressor On .........
Note:
1. Required only for evaporative Dedicated Condensing Units.
2. Maximum allowable value for Single-Packaged Dedicated Systems that do not use evaporative Dedicated Condensing Units, where all or part of the equipment
is located in the outdoor room.
TABLE 4—FIXED CAPACITY MATCHED REFRIGERATOR SYSTEM AND SINGLE-PACKAGED DEDICATED SYSTEM, CONDENSING
UNIT LOCATED OUTDOOR
Unit cooler air
entering drybulb,
°F
Unit cooler air
entering
relative
humidity,
(%)
Condenser air
entering
dry-bulb,
(°F)
Condenser air
entering
wet-bulb,
(°F)
Off Cycle Fan Power ......
35
<50
¥
Refrigeration Capacity A
35
<50
Refrigeration Capacity B
35
Refrigeration Capacity C
35
Test description
Compressor capacity
Test objective
¥
Compressor Off .........
95
751, 2 68
Compressor On .........
<50
59
541, 2 46
Compressor On .........
<50
35
1 34, 2 29
Compressor On .........
Measure fan input wattage during compressor off cycle.
Determine Net Refrigeration Capacity of
Unit Cooler, input power, and EER at
Rating Condition.
Determine Net Refrigeration Capacity of
Unit Cooler and system input power at
moderate condition.
Determine Net Refrigeration Capacity of
Unit Cooler and system input power at
cold condition.
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Note:
1. Required only for evaporative Dedicated Condensing Units.
2. Maximum allowable value for Single-Packaged Dedicated Systems that do not use evaporative Dedicated Condensing Units, where all or part of the equipment
is located in the outdoor room.
In 10 CFR part 431, subpart R, appendix C,
section 3.2. General Modifications: Methods
of Testing add the following instructions
regarding additional modifications to
appendix C of AHRI 1250-2009:
3.2.6 In appendix C, section C1. reads:
Purpose. The purpose of this appendix is to
provide a method of testing for Matched-pair,
single-packaged dedicated systems, as well as
Unit coolers and Dedicated Condensing Units
tested alone.
3.2.7 In appendix C, section C5. and C5.1
read as follows:
3.2.7.1 C5 reads: C5. Methods of Testing for
walk-in cooler and freezer systems that have
matched unit coolers and condensing units.
The testing of the walk-in cooler and freezer
systems include a steady state test, defrost
test and off-cycle fan power test. For singlepackaged dedicated systems, calculate the
refrigeration capacity and power
consumption using the Indoor Air Enthalpy
test method and the Outdoor Air Enthalpy
test method. The Indoor Air Enthalpy test
method shall be considered the primary
measurement and used to report capacity.
The Outdoor Air Enthalpy test method shall
be considered the secondary measurement
and used to calculate the Refrigeration
Capacity Heat Balance. See Section C10 of
this appendix for complete details on each
test method.
3.2.7.2 C5.1 reads: The Gross Total
Refrigeration Capacity of Unit Coolers for
matched-pairs (not including single-packaged
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dedicated systems) from steady state test
shall be determined by either one of the
following methods.
3.2.8 In appendix C, section C7.1 reads:
Refer to the standard rating conditions for a
particular application listed in Section 5 of
this standard. Test acceptance criteria listed
in Table 2 in section 4 of this standard apply
to the Dual Instrumentation and Calibrated
Box methods of test. Single-packaged
dedicated system test tolerances are listed in
each applicable Method of Test outlined in
section C10.
3.2.9 In appendix C, section C7.2 reads:
Data that need to be recorded during the test
are listed in Table C2. For single-packaged
dedicated systems tested in accordance with
ASHRAE 37-2009, data that need to be
recorded during the test are listed in
ASHRAE 37-2009.
3.2.10 In appendix C, section C6. Test
Chambers Requirements, add C6.3 to read as
follows:
C6.3 For all system constructions (Split
systems, Single-packaged dedicated systems,
Unit Cooler tested alone, and Dedicated
Condensing Unit tested alone), the Unit
Cooler under test may be used to aid in
achieving the required test chamber ambient
temperatures prior to beginning any Steadystate test. However, the unit under test must
be free from frost before initiating any
Steady-state testing.
For single-packaged dedicated systems,
refer to the applicable methods of test for
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single-packaged dedicated systems listed in
section C10 of this appendix.
In 10 CFR part 431, subpart R, appendix C,
section 3.3. Matched systems, singlepackaged dedicated systems, and unit
coolers tested alone, revise the language to
read:
3.3 Matched systems, single-packaged
dedicated systems, and unit coolers tested
alone: Use the test method in AHRI 12502009 (incorporated by reference; see
§431.303), appendix C as the method of test
for matched refrigeration systems, singlepackaged dedicated systems, or unit coolers
tested alone, with the modifications listed
below in sections 3.3.1 through 3.3.7.2.:
In appendix C of AHRI 1250-2009,
renumber the following sections and
equations, and references to the following
sections and equations, as follows:
Section C10 to C11;
Section C11 to C12;
Section C11.1 to C12.1;
Section C11.1.1 to C12.1.1;
Equation C11 to C12;
Equation C12 to C13;
Section C11.2 to C12.2;
Section C11.3 to C12.3;
Equation C13 to C14;
Equation C14 to C15;
Equation C15 to C16;
Equation C16 to C17;
Section C12 to C13; and
Section C13 to C14.
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C10. Single-packaged Test Methods and
Allowable Refrigeration Capacity Heat
Balance.
Also see the following website for Figure
C3: https://www.regulations.gov/
document?D=EERE-2018-BT-WAV-00020009.
C10.1.1 Indoor Air Enthalpy Method.
Determine Net Refrigeration Capacity of Unit
Cooler and input power in accordance with
ASHRAE 37-2009, Figure C3, and the
following modifications.
C10.1.1.1 Space conditioning capacity is
determined by measuring airflow rate and the
dry-bub temperature and water vapor content
of the air that enters and leaves the coil. Air
enthalpies shall be determined in accordance
with ANSI ASHRAE 41.6. Entering air is to
be sufficiently dry as to not produce frost on
the Unit Cooler coil. Therefore, only sensible
capacity measured by dry bulb change shall
be used to calculate capacity.
C10.1.1.2 Test Setup for Non-Ducted Unit
Coolers. A single outlet plenum box shall be
constructed in a cubic arrangement. The
length of the longest dimension of the Unit
Cooler outlet shall be used to determine the
dimension of the cube outlet plenum. Four
static pressure taps shall be installed in the
center of each face. A 6″ inlet plenum skirt
shall be installed with four static pressure
taps at each center face as well. Airflow shall
be adjusted by the exhaust fan on the airflow
plenum to achieve 0.00″WC (± 0.02″WC).
C10.1.2 Outdoor Air Enthalpy Method.
Determine Net Refrigeration Capacity of Unit
Cooler and input power in accordance with
ASHRAE 37-2009, Figure C3, and the
following modifications.
C10.1.2.1 Outdoor Air Enthalpy is only
applicable on Dedicated Condensing Units
for which the leaving air can be fully
captured. Space conditioning capacity is
determined by measuring airflow rate and the
dry-bub temperature and water vapor content
of the air that enters and leaves the coil. Air
enthalpies shall be determined in accordance
with ANSI ASHRAE 41.6. Line loss
adjustments in section 7.3.3.4 of ASHRAE
37-2009 are not applicable to package units.
C10.2 Allowable Refrigeration Capacity
Heat Balance.
C10.2.1 Following the completion of the
Steady-state capacity test, for each rating
condition, the measured net capacities of the
primary and secondary test methods must
balance within 6%, per Equation C11 9
C10.2.2 If measured net capacities do not
balance per Equation C11, investigate all
potential test facility leaks and/or nonconformances. If no leaks or non-
conformances are detected, proceed to
Section C10.2.3. If any leaks or nonconformances are detected, remedy the
concerns and rerun the Steady-state test at all
applicable rating condition(s). If the
measured net capacities balance per Equation
C11, then the test is considered valid and
capacity and power measurements from the
9 The suggested alternate test procedure in Store
It Cold’s petition for waiver referenced equation
C24. DOE understands this to be an error and that
the appropriate equation to reference is C11.
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09AUN1
EN09AU19.102
C10.1 Single-packaged Test Methods.
Insert the following as sections C10
through C10.2.3, and equation C11:
EN09AU19.101
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primary method of the second test will be
used. If the measured net capacities still do
not balance per Equation C11, proceed to
Section C10.2.3
C10.2.3 To achieve a capacity heat balance,
the test lab may modify the exterior of the
unit under test to reduce leakage and surface
losses. Specifically, the lab may add
insulation to the outside surface of the singlepackaged dedicated system and/or tape and
seal sheet metal edges to minimize outdoor
ambient air intrusion to the Unit Cooler.
After the unit is insulated, rerun the Steadystate test at all applicable rating condition(s).
If the measured net capacities balance per
Equation C11, then the lab facility and
instrumentation are verified as complying
with the applicable method of test. However,
capacity, power, and all downstream
calculations will be based on the results of
the primary method from the first test, which
occurred before the unit was altered. If the
measured net capacities still do not balance
per Equation C11, then the lab facility and
instrumentation are considered noncompliant, must be remedied, and all prior
tests for the unit under test are considered
invalid.
In 10 CFR part 431, subpart R, appendix C,
sections 3.3 through 3.3.7.2 replace
references to AHRI-1250-2009 sections C10,
C11, C11.1, C11.1.1, C11.2, and C11.3, with
C11, C12, C12.1, C12.1.1, C12.2, and C12.3,
respectively; and replace references to AHRI1250-2009 equations C13 and C14 with
equations C14 and C15, respectively.
(3) Representations. Store It Cold may
not make representations about the
energy use, including the refrigeration
capacity (in Btu/h), of a basic model
listed in paragraph (1) of this Order for
compliance, marketing, or other
purposes unless such basic model has
been tested in accordance with the
provisions set forth above and such
representations fairly disclose the
results of such testing.
(4) This waiver shall remain in effect
according to the provisions of 10 CFR
431.401.
(5) This waiver is issued on the
condition that the statements,
representations, and documents
provided by Store It Cold are valid. If
Store It Cold makes any modifications to
the controls or configurations of these
basic models, the waiver will no longer
be valid and Store It Cold will either be
required to use the current Federal test
method or submit a new application for
a test procedure waiver. DOE may
rescind or modify this waiver at any
time if it determines the factual basis
underlying the petition for waiver is
incorrect, or the results from the
alternate test procedure are
unrepresentative of a basic model’s true
energy consumption characteristics. 10
CFR 430.401(k)(1). Likewise, Store It
Cold may request that DOE rescind or
modify the waiver if Store It Cold
discovers an error in the information
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16:34 Aug 08, 2019
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provided to DOE as part of its petition,
determines that the waiver is no longer
needed, or for other appropriate reasons.
10 CFR 430.401(k)(2).
(6) Granting of this waiver does not
release Store It Cold from the
certification requirements set forth at 10
CFR part 429.
Signed in Washington, DC, on July 30,
2019.
Alexander N. Fitzsimmons,
Acting Deputy Assistant Secretary for Energy
Efficiency Energy Efficiency and Renewable
Energy.
[FR Doc. 2019–17082 Filed 8–8–19; 8:45 am]
BILLING CODE 6450–01–P
DEPARTMENT OF ENERGY
Federal Energy Regulatory
Commission
Combined Notice of Filings #1
Take notice that the Commission
received the following electric rate
filings:
Docket Numbers: ER19–2065–001.
Applicants: Midcontinent
Independent System Operator, Inc.
Ameren Illinois Company.
Description: Tariff Amendment:
2019–08–05 SA 2026 Ameren-Hannibal
Substitute 2nd Rev WDS to be effective
12/31/9998.
Filed Date: 8/5/19.
Accession Number: 20190805–5053.
Comments Due: 5 p.m. ET 8/26/19.
Docket Numbers: ER19–2252–001.
Applicants: Stanton Energy Reliability
Center, LLC.
Description: Tariff Amendment: SERC
Amendment to Application for Market
Based Rate Authorization to be effective
8/25/2019.
Filed Date: 8/5/19.
Accession Number: 20190805–5017.
Comments Due: 5 p.m. ET 8/26/19.
Docket Numbers: ER19–2529–000.
Applicants: Black Hills Wyoming,
LLC.
Description: § 205(d) Rate Filing:
Request for Authorization of Affiliate
Transactions and Revisions to MBR
Tariff to be effective 10/2/2019.
Filed Date: 8/2/19.
Accession Number: 20190802–5157.
Comments Due: 5 p.m. ET 8/23/19.
Docket Numbers: ER19–2531–000.
Applicants: DesertLink, LLC.
Description: § 205(d) Rate Filing:
Amendments to DesertLinks Formula
Rate Protocols and Template to be
effective 8/2/2019.
Filed Date: 8/5/19.
Accession Number: 20190805–5038.
Comments Due: 5 p.m. ET 8/26/19.
PO 00000
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39293
Docket Numbers: ER19–2532–000.
Applicants: Duke Energy Progress,
LLC.
Description: Tariff Cancellation: DEPNotice of Cancellation of CIAC w/
Fayetteville to be effective 10/5/2019.
Filed Date: 8/5/19.
Accession Number: 20190805–5052.
Comments Due: 5 p.m. ET 8/26/19.
Docket Numbers: ER19–2533–000.
Applicants: Vermont Transco LLC.
Description: Notice of Cancellation of
executed Large Generator
Interconnection Service Agreement No.
17 of Vermont Transco LLC.
Filed Date: 8/5/19.
Accession Number: 20190805–5068.
Comments Due: 5 p.m. ET 8/26/19.
Take notice that the Commission
received the following qualifying
facility filings:
Docket Numbers: QF19–1373–000;
QF19–1374–000; QF19–1375–000;
QF19–1376–000; QF19–1377–000;
QF19–1378–000; QF19–1379–000;
QF19–1380–000; QF19–1381–000;
QF19–1382–000; QF19–1383–000;
QF19–1384–000; QF19–1386–000;
QF19–1387–000; QF19–1388–000;
QF19–1389–000; QF19–1390–000;
QF19–1391–000.
Applicants: WGL Energy Systems,
Inc.
Description: Refund Report of WGL
Energy Systems, Inc., et al.
Filed Date: 8/5/19.
Accession Number: 20190805–5031.
Comments Due: 5 p.m. ET 8/26/19.
Take notice that the Commission
received the following PURPA
210(m)(3) filings:
Docket Numbers: QM19–3–000.
Applicants: Prairie Power, Inc.
Description: Supplement to July 11,
2019 Application of Prairie Power, Inc.
to Terminate Mandatory PURPA
Purchase Obligation.
Filed Date: 7/30/19.
Accession Number: 20190730–5128.
Comments Due: 5 p.m. ET 8/27/19.
The filings are accessible in the
Commission’s eLibrary system by
clicking on the links or querying the
docket number.
Any person desiring to intervene or
protest in any of the above proceedings
must file in accordance with Rules 211
and 214 of the Commission’s
Regulations (18 CFR 385.211 and
385.214) on or before 5:00 p.m. Eastern
time on the specified comment date.
Protests may be considered, but
intervention is necessary to become a
party to the proceeding.
eFiling is encouraged. More detailed
information relating to filing
requirements, interventions, protests,
E:\FR\FM\09AUN1.SGM
09AUN1
Agencies
[Federal Register Volume 84, Number 154 (Friday, August 9, 2019)]
[Notices]
[Pages 39286-39293]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2019-17082]
-----------------------------------------------------------------------
DEPARTMENT OF ENERGY
[Case Number 2018-002; EERE-2018-BT-WAV-002]
Energy Conservation Program: Decision and Order Granting a Waiver
Store It Cold From the Department of Energy Walk-in Cooler
Refrigeration System Test Procedure
AGENCY: Office of Energy Efficiency and Renewable Energy, Department of
Energy.
ACTION: Notice of decision and order.
-----------------------------------------------------------------------
SUMMARY: The U.S. Department of Energy (``DOE'') gives notice of a
Decision and Order (Case Number 2018-002) that grants Store It Cold a
waiver from specified portions of the DOE test procedure for
determining the energy efficiency of specified walk-in refrigeration
system models. Store It Cold is required to test and rate specified
basic models of its walk-in cooler refrigeration system in accordance
with the alternate test procedure specified.
DATES: The Decision and Order is effective on August 9, 2019. The
Decision and Order will terminate upon the compliance date of any
future amendment to the test procedure for walk-in cooler refrigeration
systems located at 10 CFR part 431, subpart R, appendix C that
addresses the issues presented in this waiver. At such time, Store It
Cold must use the relevant test procedure for this equipment for any
testing to demonstrate compliance with the applicable standards, and
any other representations of energy use.
FOR FURTHER INFORMATION CONTACT:
Ms. Lucy deButts, U.S. Department of Energy, Office of Energy
Efficiency and Renewable Energy, Building Technologies Office, EE-5B,
1000 Independence Avenue, SW, Washington, DC, 20585-0121. Email:
[email protected].
Mr. Michael Kido, U.S. Department of Energy, Office of the General
Counsel, Mail Stop GC-33, Forrestal Building, 1000 Independence Avenue
SW, Washington, DC 20585-0103. Telephone: (202) 586-8145. Email:
[email protected].
SUPPLEMENTARY INFORMATION: In accordance with Title 10 of the Code of
Federal Regulations (10 CFR 431.401(f)(2)), DOE gives notice of the
issuance of its Decision and Order as set forth below. The Decision and
Order grants Store It Cold a waiver from the applicable test procedure
at 10 CFR part 431, subpart R, appendix C for specified basic models of
walk-in cooler refrigeration systems provided that
[[Page 39287]]
Store It Cold tests and rates such equipment using the alternate test
procedure specified in the Decision and Order. Store It Cold's
representations concerning the energy efficiency of the specified basic
models must be based on testing according to the provisions and
restrictions in the alternate test procedure set forth in the Decision
and Order, and the representations must fairly disclose the test
results. Distributors, retailers, and private labelers are held to the
same requirements when making representations regarding the energy
efficiency of this equipment. (42 U.S.C. 6314(d))
Consistent with 10 CFR 431.401(j), not later than October 8, 2019,
any manufacturer currently distributing in commerce in the United
States equipment employing a technology or characteristic that results
in the same need for a waiver from the applicable test procedure must
submit a petition for waiver. Manufacturers not currently distributing
such equipment in commerce in the United States must petition for and
be granted a waiver prior to the distribution in commerce of that
equipment in the United States. Manufacturers may also submit a request
for interim waiver pursuant to the requirements of 10 CFR 431.401.
Signed in Washington, DC, on July 30, 2019.
Alexander N. Fitzsimmons,
Acting Deputy Assistant Secretary for Energy Efficiency, Energy
Efficiency and Renewable Energy.
I. Background and Authority
The Energy Policy and Conservation Act of 1975, as amended
(``EPCA''),\1\ authorizes the U.S. Department of Energy (``DOE'') to
regulate the energy efficiency of a number of consumer products and
certain industrial equipment. (42 U.S.C. 6291-6317) Title III, Part C
\2\ of EPCA established the Energy Conservation Program for Consumer
Products Other Than Automobiles, which sets forth a variety of
provisions designed to improve energy efficiency for certain types of
consumer products. These products include walk-in cooler refrigeration
systems, the focus of this document. (42 U.S.C. 6311(1)(G))
---------------------------------------------------------------------------
\1\ All references to EPCA in this document refer to the statute
as amended through America's Water Infrastructure Act of 2018,
Public Law 115-270 (October 23, 2018).
\2\ For editorial reasons, upon codification in the U.S. Code,
Part C was redesignated as Part A-1.
---------------------------------------------------------------------------
The energy conservation program under EPCA consists essentially of
four parts: (1) testing, (2) labeling, (3) Federal energy conservation
standards, and (4) certification and enforcement procedures. Relevant
provisions of EPCA include definitions (42 U.S.C. 6311), energy
conservation standards (42 U.S.C. 6313), test procedures (42 U.S.C.
6314), labeling provisions (42 U.S.C. 6315), and the authority to
require information and reports from manufacturers (42 U.S.C. 6316).
The Federal testing requirements consist of test procedures that
manufacturers of covered equipment must use as the basis for: (1)
certifying to DOE that their equipment complies with the applicable
energy conservation standards adopted pursuant to EPCA (42 U.S.C.
6316(a); 42 U.S.C. 6295(s)), and (2) making representations about the
efficiency of that equipment (42 U.S.C. 6314(d)). Similarly, DOE must
use these test procedures to determine whether the equipment complies
with relevant standards promulgated under EPCA. (42 U.S.C. 6316(a); 42
U.S.C. 6295(s)).
Under 42 U.S.C. 6314, EPCA sets forth the criteria and procedures
DOE is required to follow when prescribing or amending test procedures
for covered equipment. EPCA requires that any test procedures
prescribed or amended under this section must be reasonably designed to
produce test results which reflect energy efficiency, energy use or
estimated annual operating cost of covered equipment during a
representative average use cycle and requires that test procedures not
be unduly burdensome to conduct. (42 U.S.C. 6314(a)(2)) The test
procedure for walk-in cooler refrigeration systems is contained in the
Code of Federal Regulations (``CFR'') at 10 CFR part 431, subpart R,
appendix C, - ``Uniform Test Method for the Measurement of Net Capacity
and AWEF of Walk-In Cooler and Walk-In Freezer Refrigeration Systems''
(``Appendix C'').
Under 10 CFR 431.401, any interested person may submit a petition
for waiver from DOE's test procedure requirements for commercial and
industrial equipment. DOE will grant a waiver from the test procedure
requirements if DOE determines either that the basic model for which
the waiver was requested contains a design characteristic that prevents
testing of the basic model according to the prescribed test procedures,
or that the prescribed test procedures evaluate the basic model in a
manner so unrepresentative of its true energy consumption
characteristics as to provide materially inaccurate comparative data.
10 CFR 431.401(f)(2). DOE may grant the waiver subject to conditions,
including adherence to an alternate test procedure. Id.
II. Store It Cold's Petition for Waiver: Assertions and Determinations
By letter dated March 9, 2018, Store It Cold filed a petition for
waiver and petition for interim waiver from the test procedure for
walk-in refrigeration systems set forth in Appendix C, and in response
to DOE requests for technical clarification, Store It Cold submitted a
revised petition for waiver and petition for interim waiver on May 16,
2018.\3\ In the petition, Store It Cold requested relief for the
following walk-in cooler refrigeration system basic models: CBLW08,
CBLW10, CBLW12, CBLW15, CBLW18, CBLW25. Store It Cold identified these
models as single-package dedicated refrigeration systems comprised of a
controller (i.e., the [deg]CoolBot[supreg] controller) and a room air
conditioner (``RAC''), which are combined to form a walk-in
refrigeration system. Store It Cold stated in its petition that the
resulting walk-in refrigeration systems are designated for both indoor
and outdoor use. According to Store It Cold's petition, the CoolBot's
technology controls a window air conditioner that maintains desired
temperatures, as opposed to a much larger traditional walk-in cooler
refrigeration system that would utilize large compressors, large
surface area coils, multiple fans, and large volumes of refrigerant to
do the same. Store It Cold asserted in its petition that, for the basic
models listed in its petition, the refrigerant enthalpy method
(referred to as the ```refrigerant-side' gross capacity'' method by
Store It Cold) yields inconsistent refrigerant mass flow rates and
lower than expected capacities. Store It Cold explained in its petition
that the installation of the refrigerant mass flow meters used under
this method significantly increased the refrigerant circuit's internal
volume, requiring the system to be charged with approximately twice the
amount of refrigerant as was present from the factory. Store It Cold
requested that it be allowed to test its models using an alternate
```air-side' gross capacity'' method, in which the capacity would be
determined by measuring the enthalpy change and mass flow rate of the
air passing through both the evaporator side and condenser side,
resulting in two capacity measurements that would have to match within
a designated tolerance for the test to be considered valid. Store It
Cold also requested an interim waiver for this equipment.
---------------------------------------------------------------------------
\3\ The docket, including Store It Cold's submissions is located
at: https://www.regulations.gov/docket?D=EERE-2018-BT-WAV-0002.
---------------------------------------------------------------------------
[[Page 39288]]
After reviewing Store It Cold's application, the alternate test
procedure requested by Store It Cold, the company's testing and
performance data, product characteristics, and product specification
sheets published online by Store It Cold, DOE published a notice that
announced its receipt of the petition for waiver and granted Store It
Cold an interim waiver. 84 FR 11944 (March 29, 2019) (``Notice of
Petition for Waiver''). In the Notice of Petition for Waiver, DOE
presented Store it Cold's claim that the results from testing the
specified basic models according to ``refrigerant-side'' measurements
provide results unrepresentative of the [deg]CoolBot[supreg] walk-in
cooler refrigeration system's actual energy consumption characteristics
and that such testing would provide materially inaccurate comparative
data. A test photo provided by Store It Cold shows that the refrigerant
tubing exiting the unit has multiple bends in it without any extended
straight sections upstream and downstream of the refrigerant mass flow
meters, which could very well have affected the accuracy of the mass
flow measurements. Additionally, Store It Cold stated the refrigerant
tubing as configured increased the refrigerant circuit's internal
volume, requiring the system to be charged with approximately twice the
amount of refrigerant as was present from the factory.
DOE stated in the Notice of Petition for Waiver that for
refrigeration systems in general, it is expected that the capacity of
the system would monotonically increase as the condenser air
temperature decreases (until further increases are limited by
refrigerant mass flow restriction of the expansion device for the lower
condensing pressures that would occur for lower condenser air
temperatures). 84 FR 11944, 11946. This is because the cooler condenser
air temperature can further cool the refrigerant such that it leaves
the condenser at lower temperature and enthalpy, and similarly enters
the evaporator at lower enthalpy. This increases the amount of heat the
refrigerant absorbs from the refrigerated space as it flows through the
evaporator coil, increasing the capacity of the evaporator. DOE noted
that the ``refrigerant-side'' method test data in Store It Cold's
petition do not follow this trend, and that the inconsistent results
suggest that the capacity measurements are not accurate. Id. DOE also
stated the data from testing using the ``air side'' method follows the
expected trend, showing increasing refrigeration capacity as condenser
air temperature decreases for both tested units, giving much greater
confidence that the measurements are accurate. Id.
DOE granted Store It Cold an interim waiver requiring testing of
the specified walk-in cooler refrigeration systems using the alternate
``air-side'' test procedure as requested by Store It Cold. Under the
``air-side'' method, the refrigeration capacity is determined by
measuring the enthalpy change and mass flow rate of the air passing
through the evaporator side (i.e., Indoor Air Enthalpy Method) and
condenser side (i.e., Outdoor Air Enthalpy Method). The condenser side
measurement is adjusted by subtracting the system input power to
determine refrigeration capacity.
In the Notice of Petition for Waiver, DOE also solicited comments
from interested parties on all aspects of the petition and the
specified alternate test procedure Id. DOE received comments from three
commenters: (1) a group of utilities including Pacific Gas and Electric
Company (``PG&E''), San Diego Gas and Electric (``SDG&E''), and
Southern California Edison (``SCE'') (hereinafter the ``California
IOUs''), (2) the Air-Conditioning, Heating, and Refrigeration Institute
(``AHRI''), and (3) BMIL Technologies, LLC.\4\
---------------------------------------------------------------------------
\4\ All comments are in the docket located at: https://www.regulations.gov/docket?D=EERE-2018-BT-WAV-0002.
---------------------------------------------------------------------------
The California IOUs recommended that DOE deny the current version
of the petition for waiver and instead recommended DOE require that
Store It Cold determine the refrigeration capacity of the specified
equipment using a ``dual Calibrated Box'' approach, as is prescribed by
DOE for RACs, with appropriate modifications. (California IOUs, No.
0017 at p. 1) The California IOUs stated that the air-side enthalpy
methods proposed in the petition for waiver is not used for the DOE
capacity rating test procedure of either WICF or RAC. (California IOUs,
No. 0017 at p. 2) The CA IOUs stated that the test procedure suggested
by Store It Cold is widely used for testing ducted unit air-
conditioners and heat pumps, and not appropriate for non-ducted
equipment, such as the Store It Cold models. The California IOUs also
stated that the equipment for which the waiver is sought is an RAC with
a modified controller to make it a WICF, rather than a piece of unitary
air-conditioning equipment with ducts, and thus the RAC capacity test
is more appropriate for evaluating the application. (California IOUs,
No. 0017 at p. 3) They further stated that a dual Calibrated Box
approach would allow the airflows to freely circulate in both the hot
side and cold side enclosures, reflecting the actual application of the
models in question. (California IOUs, No. 0017 at p. 3) Alternatively,
they suggested that DOE at a minimum require testing under both the
air-side enthalpy and dual calibrated box methods and submit the
resulting data as confirmation of the air-side enthalpy
measurements.\5\(California IOUs, No. 0017 at p. 4)
---------------------------------------------------------------------------
\5\ The California IOUs comment is available in the docket at:
https://www.regulations.gov/docket?D=EERE-2018-BT-WAV-0002.
---------------------------------------------------------------------------
The California IOUs also expressed concern that if the alternate
test procedure changes the rated capacity and creates a lower bar to
meet the WICF standards (especially for a low-cost off-the-shelf
product) it could significantly shift segments of the market away from
compliant efficient equipment towards equipment that would not be
compliant if tested using the consensus test method prescribed by DOE.
(California IOUs, No. 0017 at p. 2) The California IOUs also expressed
concern that, being based on RACs that were not designed for walk-in
applications, the Store It Cold models may not meet safety and consumer
protection standards and may have reduced life as compared with the
10.5 years estimated by DOE for medium temperature refrigeration
systems. (California IOUs, No. 0017 at pp. 4-5)
As noted in the Notice of Petition for Wavier, the equipment for
which Store It Cold has requested a waiver are walk-in cooler
refrigeration systems that are comprised, in part, of a RAC. 84 FR
11944, 11946. DOE recognizes that Store It Cold also separately
distributes in commerce the [deg]CoolBot[supreg] controller, i.e., not
as part of a walk-in cooler refrigeration system, and reiterates that
the grant of a waiver only applies to the walk-in cooler refrigeration
system basic models identified by Store It Cold, i.e., the specific
models listed in the Waiver order, which contain [deg]CoolBot[supreg]
controllers integrated by Store It Cold with the specified RAC models.
As explained in the Notice of Petition for Waiver, the test
procedure for determining the rated capacity under the WICF test
procedure provides results that are unrepresentative of the specified
models' true performance capabilities. The test data provided by Store
It Cold indicated that the air-side enthalpy test suggested by Store It
Cold yields more accurate results for the basic models listed in its
petition. Additionally, multiple organizations have established test
procedures for determining the capacity of single-
[[Page 39289]]
package air-conditioners and refrigeration systems using the
psychrometric approach, which uses the indoor air enthalpy method and/
or the outdoor air enthalpy method. Examples include the following:
ANSI/ASHRAE 58-1986 (RA 1999), ``Method of Testing for
Rating Room Air Conditioner and Packaged Terminal Air Condition Heating
Capacity'' prescribes the use of the air enthalpy test method to
measure heating capacity of room air conditioners and packaged terminal
air conditioners with reverse-cycle operation to allow heating.
ANSI/ASHRAE 16 (2016), ``Method of Testing for Rating Room
Air Conditioners and Packaged Terminal Air Conditioners'', the updated
version of ASHRAE 16-1983 (RA 2009), allows both calorimetric methods
similar to ASHRAE 16-1983 (RA 2009) as well as the psychrometric
approach using the air enthalpy method.
DOE's test procedure for packaged terminal air
conditioners and heat pumps (10 CFR 431.96), allows use of both
calorimetric and psychrometric test methods to determine cooling
capacity.
AHRI has published for comment a draft revision of AHRI
1250, ``Standard for Performance Rating of Walk-In Coolers and
Freezers'', which allows use of air enthalpy methods for measurement of
refrigeration capacity for single-package walk-in refrigeration
systems. (AHRI 1250 Draft, NO. 18 at p. 60)
Regarding the California IOUs suggestion that the indoor air
enthalpy method is suitable only for capacity measurement for ducted
systems, DOE notes that many non-ducted systems are tested using this
test method, for example Central Air Conditioners and Heat Pumps,
Variable Refrigerant Flow units, and Packaged Terminal Air
Conditioners. In addition to the systems noted above, non-ducted
systems such as mini-split air conditioners multi-split air
conditioners also are tested using the indoor air enthalpy method. See
10 CFR part 430 subpart B appendix M.
Finally, with respect to the potential food safety and product life
implications raised by the California IOUs, DOE notes that the waiver
process addresses instances in which a basic model contains one or more
design characteristics that prevent testing of the basic model
according to the DOE prescribed test procedures or cause the prescribed
test procedures to evaluate the basic model in a manner so
unrepresentative of its true energy consumption characteristics as to
provide materially inaccurate comparative data. 10 CFR 431.401(a)(1).
Accordingly, these particular concerns raised by the California IOUs
lie beyond the much more limited scope of the waiver process. We also
note that, while DOE takes no position as to the safety performance or
longevity of the subject basic models, the relevant portions of the
test procedure that Store It Cold must follow as part of this waiver
order require that the equipment's interior box maintain a temperature
of 35[ordm]F, which would fall within the recommended food storage
temperature range. (NSF/ANSI 7- 2009, at p. 13 (specifying that
refrigeration equipment must be capable of maintaining air temperature
of 40[deg]F (4[deg]C) or lower in all refrigerated compartment
interiors).
AHRI stated that the models for which the waiver is requested
appear to meet the legal definition of a walk-in cooler, and that its
primary component--the RAC--is also a DOE-covered product that can be
tested pursuant to air-conditioning methods of test. AHRI further
explained that, although its members have raised generalized concerns
about whether the waiver seeks to sanction what its members view as the
misapplication of a RAC as a walk-in cooler, they do not object to the
waiver, as long as it is consistent with relevant industry-standard
performance tests for equipment. Specifically, AHRI requested that the
waiver stipulate a 75 [deg]F wet bulb condition be applied. (AHRI, No.
0016 at p. 1) AHRI asserted that, similar to a room air conditioner,
the [deg]CoolBot[supreg] system would reject condensate to the outdoor
coil, using it to enhance outdoor coil cooling. AHRI further states
that variations in outdoor air wet bulb temperature would lead to
inconsistent test results when compared to the performance of a typical
evaporative condensing unit. (AHRI, No. 0016 at pp. 1-2) Specifically,
AHRI suggested that the Note 1 of Tables 3 and 4 in the Store It Cold
waiver be updated to read ``Required only for evaporative Dedicated
Condensing Units or Single-Package Dedicated Systems that reject the
condensate to the outdoor coil.'' \6\ (AHRI, No. 0016 at p. 2)
---------------------------------------------------------------------------
\6\ AHRI comment is available in the docket at: https://www.regulations.gov/docket?D=EERE-2018-BT-WAV-0002.
---------------------------------------------------------------------------
DOE agrees that maintaining a 75 [deg]F wet bulb condition for the
outdoor air would be important for evaporative condensers and units
that reject condensate to the outdoor coil. However, DOE notes that the
test procedure for walk-in refrigeration systems requires maintaining
the evaporator-side inlet air at a low-humidity condition such that
frost would not form on the evaporator. Consequently, at steady-state
operating conditions, there would be no moisture collecting on the
[deg]CoolBot[supreg] system evaporator. Further, since the system would
have to stop operation and undergo defrost for the moisture to melt and
turn into condensate that can be transferred to the condenser coil, the
possibility for enhancing condenser cooling using condensate collected
at the evaporator is even less likely.
DOE acknowledges that it is possible that some moisture could be
present--for example, the [deg]CoolBot[supreg] system could be used
prior to a test to help cool the test chamber down to 35 [deg]F. In
this case, moisture present in the room before cooldown could collect
on the evaporator. This moisture could possibly drain off the
evaporator before the evaporator surface is cold enough to freeze it,
or the system's operation could be interrupted briefly before a test is
conducted, either of which would lead to drainage of the moisture and
transfer to the condenser side. DOE is concerned that the quantity of
this moisture collection would be highly dependent on the uncontrolled
circumstances occurring before the test measurement begins (e.g.,
whether the unit was used to help cool down the test chamber, whether
or not the test was conducted during humid summer conditions when a
higher level of moisture could have been in the chamber prior to
cooldown, whether the unit operation was stopped to allow defrost
before conducting the test), and hence, even if the outdoor side wet
bulb temperature is maintained at 75 [deg]F, as recommended by AHRI,
the amount of condenser cooling enhancement could vary. DOE concludes
that a better approach to address AHRI's concern about the variability
is to ensure that there is no moisture in the condensate pan on the
condenser side during the test. In this case, the outdoor wet bulb
temperature would not affect the test result, because there would be no
evaporative cooling--thus the outdoor wet bulb temperature would not
have to be controlled, other than to prevent it from exceeding the
maximum limits specified for single-package units. Ensuring that there
is no moisture in the condenser-side condensate pan could be done in
different ways, for example, drilling a small hole in the bottom of the
pan to let the moisture drain out, running the unit for a long time to
evaporate any collected moisture, or preventing the collection of
moisture in the first place by drying out the indoor room prior to
starting operation of the test unit. The alternate test procedure in
this Order has been modified from the procedure in the interim waiver,
to include this
[[Page 39290]]
requirement to make sure that there is no moisture in the condenser-
side condensate pan during performance measurement test periods. It
does not specify how to ensure that the condensate pan is dry in order
to retain flexibility in test approach.
BMIL Technologies, LLC questioned the granting of a waiver that
would enable testing the application of air conditioning units within
an operating range that the manufacturer does not rate, i.e.,
refrigeration.\7\ (BMIL Technologies, LLC, No. 0014 at p. 1)
---------------------------------------------------------------------------
\7\ BMIL Technologies, LLC comment is available in the docket
at: https://www.regulations.gov/docket?D=EERE-2018-BT-WAV-0002.
---------------------------------------------------------------------------
DOE acknowledges that an RAC is not routinely considered to be a
refrigeration system used for commercial or industrial cooling
applications. However, in the circumstances presented here, where a
manufacturer's own materials and statements assert that the pairing of
its refrigeration controls (i.e., [deg]CoolBot[supreg] controller) with
a specified off-the-shelf RAC satisfies the relevant walk-in regulatory
definitions and refrigerates at a 35 [deg]F walk-in temperature, DOE
accepts the manufacturer's submissions in its request for a waiver,
absent evidence to the contrary. Accordingly, when faced with the
current set of facts, Store It Cold's equipment is subject to the test
procedures and energy conservation standards established for WICF at 10
CFR part 431, subpart R. The fact that one of the components used in
each of the specified Store It Cold basic models can also operate as a
RAC at warmer temperatures is not relevant under the facts at hand to
the question of whether the alternate test procedure is appropriate for
measuring the system capacity of these models.
For the reasons explained here and in the Notice of Petition for
Waiver, absent a waiver the basic models identified by Store It Cold in
its petition cannot be tested and rated for energy consumption on a
basis representative of their true energy consumption characteristics.
DOE has reviewed the recommended procedure suggested by Store It Cold
and concludes that it will allow for the accurate measurement of the
energy use of the equipment, subject to the modification discussed in
the prior paragraphs, while alleviating the testing problems associated
with Store It Cold's implementation of DOE's applicable walk-in cooler
refrigeration system test procedure for the specified basic models.
Thus, DOE is requiring that Store It Cold test and rate the
identified walk-in cooler refrigeration system basic models according
to the alternate test procedure specified in this Decision and Order.
The alternate test procedure in this Order is a modified version of the
procedure in the interim waiver.
This Decision and Order is applicable only to the basic models
listed in the Order and does not extend to any other basic models.
Store It Cold may request that the scope of this waiver be extended to
include additional basic models that employ the same technology as
those listed in this waiver. 10 CFR 431.401(g). Store It Cold may also
submit another petition for waiver from the test procedure for
additional basic models that employ a different technology and meet the
criteria for test procedure waivers. 10 CFR 431.401(a)(1).
DOE notes that it may modify or rescind the waiver at any time upon
DOE's determination that the factual basis underlying the petition for
waiver is incorrect, or upon a determination that the results from the
alternate test procedure are unrepresentative of the basic models' true
energy consumption characteristics. 10 CFR 430.401(k)(1). Likewise,
Store It Cold may request that DOE rescind or modify the waiver if the
company discovers an error in the information provided to DOE as part
of its petition, determines that the waiver is no longer needed, or for
other appropriate reasons. 10 CFR 430.401(k)(2). As set forth above,
the test procedure specified in this Decision and Order is not the same
as the test procedure offered by Store It Cold. If Store It Cold
believes that the alternate test method it suggested provides
representative results and is less burdensome than the test method
required by this Decision and Order, Store It Cold may submit a request
for modification under 10 CFR 431.401(k)(2) that addresses the concerns
that DOE has specified with that procedure. Store It Cold may also
submit another less burdensome alternative test procedure not expressly
considered in this notice under the same provision.
III. Order
After careful consideration of all the material that was submitted
by Store It Cold, product specification sheets published online by
Store It Cold, and comments received in this matter, it is ORDERED
that:
(1) Store It Cold must, as of the date of publication of this Order
in the Federal Register, test and rate the following walk-in cooler
refrigeration system basic models with the alternate test procedure as
set forth in paragraph (2):
------------------------------------------------------------------------
Basic Model
Brand Number
------------------------------------------------------------------------
CoolBot................................................. CBLW08
CoolBot................................................. CBLW10
CoolBot................................................. CBLW12
CoolBot................................................. CBLW15
CoolBot................................................. CBLW18
CoolBot................................................. CBLW25
------------------------------------------------------------------------
(2) The alternate test procedure for the Store It Cold basic models
listed in paragraph (1) of this Order is the test procedure for walk-in
cooler refrigeration systems prescribed by DOE at 10 CFR part 431,
subpart R, appendix C,\8\ except as detailed below. All other
requirements of 10 CFR part 431, subpart R, appendix C, and DOE's
regulations remain applicable, with the following modifications:
---------------------------------------------------------------------------
\8\ AHRI Standard 1250P (I-P)-2009 (``AHRI 1250-2009'') titled
``Standard for Performance Rating of Walk-in Coolers and Freezers''
is incorporated by reference in the federal test procedure at 10 CFR
431.303(b)(2). The alternate test procedure provides amendments to
10 CFR part 431, subpart R, appendix C that include required
modifications to AHRI 1250-2009.
In 10 CFR part 431, subpart R, appendix C, section 3.1. General
modifications: Test Conditions and Tolerances, revise sections
3.1.1. and 3.1.4., and add instructions in a new section 3.1.6.
regarding Tables 3 and 4 of AHRI 1250-2009, to read:
3.1.1. In Table 1, Instrumentation Accuracy, refrigerant
temperature measurements shall have a tolerance of 0.5 F
for unit cooler in/out. Temperature measurements used to determine
water vapor content of the air shall be accurate to within 0.4 F, 1.0 F for all other temperature
measurements.
3.1.4. In Tables 2 through 14, the Test Condition Outdoor Wet
Bulb Temperature requirement and its associated tolerance apply only
to units with evaporative cooling and single-packaged dedicated
systems. The condenser-side condensate pan must be dry during
performance measurement test periods.
3.1.6. Tables 3 and 4 shall be modified to read as follows:
[[Page 39291]]
Table 3--Fixed Capacity Matched Refrigerator System and Single-Packaged Dedicated System, Condensing Unit Located Indoor
--------------------------------------------------------------------------------------------------------------------------------------------------------
Unit cooler Unit cooler
air entering air entering Condenser air Condenser air
Test description dry-bulb, relative entering dry- entering wet- Compressor capacity Test objective
[deg]F humidity, (%) bulb, ([deg]F) bulb, ([deg]F)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Off-cycle Fan Power................. 35 <50 - - Compressor Off........ Measure fan input wattage
during compressor off
cycle.
Refrigeration Capacity.............. 35 <50 90 \1\ 75, \2\ 65 Compressor On......... Determine Net
Refrigeration Capacity of
Unit Cooler, input power,
and EER at Rating
Condition.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Note:
1. Required only for evaporative Dedicated Condensing Units.
2. Maximum allowable value for Single-Packaged Dedicated Systems that do not use evaporative Dedicated Condensing Units, where all or part of the
equipment is located in the outdoor room.
Table 4--Fixed Capacity Matched Refrigerator System and Single-Packaged Dedicated System, Condensing Unit Located Outdoor
--------------------------------------------------------------------------------------------------------------------------------------------------------
Unit cooler Unit cooler
air entering air entering Condenser air Condenser air
Test description dry-bulb, relative entering dry- entering wet- Compressor capacity Test objective
[deg]F humidity, (%) bulb, ([deg]F) bulb, ([deg]F)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Off Cycle Fan Power................. 35 <50 - - Compressor Off........ Measure fan input wattage
during compressor off
cycle.
Refrigeration Capacity A............ 35 <50 95 75\1\, \2\ 68 Compressor On......... Determine Net
Refrigeration Capacity of
Unit Cooler, input power,
and EER at Rating
Condition.
Refrigeration Capacity B............ 35 <50 59 54\1\, \2\ 46 Compressor On......... Determine Net
Refrigeration Capacity of
Unit Cooler and system
input power at moderate
condition.
Refrigeration Capacity C............ 35 <50 35 \1\ 34, \2\ 29 Compressor On......... Determine Net
Refrigeration Capacity of
Unit Cooler and system
input power at cold
condition.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Note:
1. Required only for evaporative Dedicated Condensing Units.
2. Maximum allowable value for Single-Packaged Dedicated Systems that do not use evaporative Dedicated Condensing Units, where all or part of the
equipment is located in the outdoor room.
In 10 CFR part 431, subpart R, appendix C, section 3.2. General
Modifications: Methods of Testing add the following instructions
regarding additional modifications to appendix C of AHRI 1250-2009:
3.2.6 In appendix C, section C1. reads: Purpose. The purpose of
this appendix is to provide a method of testing for Matched-pair,
single-packaged dedicated systems, as well as Unit coolers and
Dedicated Condensing Units tested alone.
3.2.7 In appendix C, section C5. and C5.1 read as follows:
3.2.7.1 C5 reads: C5. Methods of Testing for walk-in cooler and
freezer systems that have matched unit coolers and condensing units.
The testing of the walk-in cooler and freezer systems include a
steady state test, defrost test and off-cycle fan power test. For
single-packaged dedicated systems, calculate the refrigeration
capacity and power consumption using the Indoor Air Enthalpy test
method and the Outdoor Air Enthalpy test method. The Indoor Air
Enthalpy test method shall be considered the primary measurement and
used to report capacity. The Outdoor Air Enthalpy test method shall
be considered the secondary measurement and used to calculate the
Refrigeration Capacity Heat Balance. See Section C10 of this
appendix for complete details on each test method.
3.2.7.2 C5.1 reads: The Gross Total Refrigeration Capacity of
Unit Coolers for matched-pairs (not including single-packaged
dedicated systems) from steady state test shall be determined by
either one of the following methods.
3.2.8 In appendix C, section C7.1 reads: Refer to the standard
rating conditions for a particular application listed in Section 5
of this standard. Test acceptance criteria listed in Table 2 in
section 4 of this standard apply to the Dual Instrumentation and
Calibrated Box methods of test. Single-packaged dedicated system
test tolerances are listed in each applicable Method of Test
outlined in section C10.
3.2.9 In appendix C, section C7.2 reads: Data that need to be
recorded during the test are listed in Table C2. For single-packaged
dedicated systems tested in accordance with ASHRAE 37-2009, data
that need to be recorded during the test are listed in ASHRAE 37-
2009.
3.2.10 In appendix C, section C6. Test Chambers Requirements,
add C6.3 to read as follows:
C6.3 For all system constructions (Split systems, Single-
packaged dedicated systems, Unit Cooler tested alone, and Dedicated
Condensing Unit tested alone), the Unit Cooler under test may be
used to aid in achieving the required test chamber ambient
temperatures prior to beginning any Steady-state test. However, the
unit under test must be free from frost before initiating any
Steady-state testing.
For single-packaged dedicated systems, refer to the applicable
methods of test for single-packaged dedicated systems listed in
section C10 of this appendix.
In 10 CFR part 431, subpart R, appendix C, section 3.3. Matched
systems, single-packaged dedicated systems, and unit coolers tested
alone, revise the language to read:
3.3 Matched systems, single-packaged dedicated systems, and unit
coolers tested alone: Use the test method in AHRI 1250-2009
(incorporated by reference; see Sec. 431.303), appendix C as the
method of test for matched refrigeration systems, single-packaged
dedicated systems, or unit coolers tested alone, with the
modifications listed below in sections 3.3.1 through 3.3.7.2.:
In appendix C of AHRI 1250-2009, renumber the following sections
and equations, and references to the following sections and
equations, as follows:
Section C10 to C11;
Section C11 to C12;
Section C11.1 to C12.1;
Section C11.1.1 to C12.1.1;
Equation C11 to C12;
Equation C12 to C13;
Section C11.2 to C12.2;
Section C11.3 to C12.3;
Equation C13 to C14;
Equation C14 to C15;
Equation C15 to C16;
Equation C16 to C17;
Section C12 to C13; and
Section C13 to C14.
[[Page 39292]]
Insert the following as sections C10 through C10.2.3, and
equation C11:
C10. Single-packaged Test Methods and Allowable Refrigeration
Capacity Heat Balance.
C10.1 Single-packaged Test Methods.
[GRAPHIC] [TIFF OMITTED] TN09AU19.101
Also see the following website for Figure C3: https://www.regulations.gov/document?D=EERE-2018-BT-WAV-0002-0009.
C10.1.1 Indoor Air Enthalpy Method. Determine Net Refrigeration
Capacity of Unit Cooler and input power in accordance with ASHRAE
37-2009, Figure C3, and the following modifications.
C10.1.1.1 Space conditioning capacity is determined by measuring
airflow rate and the dry-bub temperature and water vapor content of
the air that enters and leaves the coil. Air enthalpies shall be
determined in accordance with ANSI ASHRAE 41.6. Entering air is to
be sufficiently dry as to not produce frost on the Unit Cooler coil.
Therefore, only sensible capacity measured by dry bulb change shall
be used to calculate capacity.
C10.1.1.2 Test Setup for Non-Ducted Unit Coolers. A single
outlet plenum box shall be constructed in a cubic arrangement. The
length of the longest dimension of the Unit Cooler outlet shall be
used to determine the dimension of the cube outlet plenum. Four
static pressure taps shall be installed in the center of each face.
A 6'' inlet plenum skirt shall be installed with four static
pressure taps at each center face as well. Airflow shall be adjusted
by the exhaust fan on the airflow plenum to achieve 0.00''WC ( 0.02''WC).
C10.1.2 Outdoor Air Enthalpy Method. Determine Net Refrigeration
Capacity of Unit Cooler and input power in accordance with ASHRAE
37-2009, Figure C3, and the following modifications.
C10.1.2.1 Outdoor Air Enthalpy is only applicable on Dedicated
Condensing Units for which the leaving air can be fully captured.
Space conditioning capacity is determined by measuring airflow rate
and the dry-bub temperature and water vapor content of the air that
enters and leaves the coil. Air enthalpies shall be determined in
accordance with ANSI ASHRAE 41.6. Line loss adjustments in section
7.3.3.4 of ASHRAE 37-2009 are not applicable to package units.
C10.2 Allowable Refrigeration Capacity Heat Balance.
C10.2.1 Following the completion of the Steady-state capacity
test, for each rating condition, the measured net capacities of the
primary and secondary test methods must balance within 6%, per
Equation C11 \9\
---------------------------------------------------------------------------
\9\ The suggested alternate test procedure in Store It Cold's
petition for waiver referenced equation C24. DOE understands this to
be an error and that the appropriate equation to reference is C11.
[GRAPHIC] [TIFF OMITTED] TN09AU19.102
C10.2.2 If measured net capacities do not balance per Equation
C11, investigate all potential test facility leaks and/or non-
conformances. If no leaks or non-conformances are detected, proceed
to Section C10.2.3. If any leaks or non-conformances are detected,
remedy the concerns and rerun the Steady-state test at all
applicable rating condition(s). If the measured net capacities
balance per Equation C11, then the test is considered valid and
capacity and power measurements from the
[[Page 39293]]
primary method of the second test will be used. If the measured net
capacities still do not balance per Equation C11, proceed to Section
C10.2.3
C10.2.3 To achieve a capacity heat balance, the test lab may
modify the exterior of the unit under test to reduce leakage and
surface losses. Specifically, the lab may add insulation to the
outside surface of the single-packaged dedicated system and/or tape
and seal sheet metal edges to minimize outdoor ambient air intrusion
to the Unit Cooler. After the unit is insulated, rerun the Steady-
state test at all applicable rating condition(s). If the measured
net capacities balance per Equation C11, then the lab facility and
instrumentation are verified as complying with the applicable method
of test. However, capacity, power, and all downstream calculations
will be based on the results of the primary method from the first
test, which occurred before the unit was altered. If the measured
net capacities still do not balance per Equation C11, then the lab
facility and instrumentation are considered non-compliant, must be
remedied, and all prior tests for the unit under test are considered
invalid.
In 10 CFR part 431, subpart R, appendix C, sections 3.3 through
3.3.7.2 replace references to AHRI-1250-2009 sections C10, C11,
C11.1, C11.1.1, C11.2, and C11.3, with C11, C12, C12.1, C12.1.1,
C12.2, and C12.3, respectively; and replace references to AHRI-1250-
2009 equations C13 and C14 with equations C14 and C15, respectively.
(3) Representations. Store It Cold may not make representations
about the energy use, including the refrigeration capacity (in Btu/h),
of a basic model listed in paragraph (1) of this Order for compliance,
marketing, or other purposes unless such basic model has been tested in
accordance with the provisions set forth above and such representations
fairly disclose the results of such testing.
(4) This waiver shall remain in effect according to the provisions
of 10 CFR 431.401.
(5) This waiver is issued on the condition that the statements,
representations, and documents provided by Store It Cold are valid. If
Store It Cold makes any modifications to the controls or configurations
of these basic models, the waiver will no longer be valid and Store It
Cold will either be required to use the current Federal test method or
submit a new application for a test procedure waiver. DOE may rescind
or modify this waiver at any time if it determines the factual basis
underlying the petition for waiver is incorrect, or the results from
the alternate test procedure are unrepresentative of a basic model's
true energy consumption characteristics. 10 CFR 430.401(k)(1).
Likewise, Store It Cold may request that DOE rescind or modify the
waiver if Store It Cold discovers an error in the information provided
to DOE as part of its petition, determines that the waiver is no longer
needed, or for other appropriate reasons. 10 CFR 430.401(k)(2).
(6) Granting of this waiver does not release Store It Cold from the
certification requirements set forth at 10 CFR part 429.
Signed in Washington, DC, on July 30, 2019.
Alexander N. Fitzsimmons,
Acting Deputy Assistant Secretary for Energy Efficiency Energy
Efficiency and Renewable Energy.
[FR Doc. 2019-17082 Filed 8-8-19; 8:45 am]
BILLING CODE 6450-01-P