Energy Conservation Program: Energy Conservation Standards for Fluorescent Lamp Ballasts, 56540-56587 [2019-22537]
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Federal Register / Vol. 84, No. 204 / Tuesday, October 22, 2019 / Proposed Rules
DEPARTMENT OF ENERGY
10 CFR Part 430
[EERE–2015–BT–STD–0006]
RIN 1905–AD51
Energy Conservation Program: Energy
Conservation Standards for
Fluorescent Lamp Ballasts
Office of Energy Efficiency and
Renewable Energy, Department of
Energy.
ACTION: Notice of proposed
determination and request for comment.
AGENCY:
The Energy Policy and
Conservation Act of 1975, as amended
(EPCA), prescribes energy conservation
standards for various consumer
products and certain commercial and
industrial equipment, including
fluorescent lamp ballasts. EPCA also
requires the U.S. Department of Energy
(DOE) to periodically determine
whether more-stringent, amended
standards would be technologically
feasible and economically justified, and
would result in significant energy
savings. In this notice of proposed
determination (NOPD), DOE has
initially determined that energy
conservation standards for fluorescent
lamp ballasts do not need to be
amended and also asks for comment on
this proposed determination and
associated analyses and results.
DATES:
Meeting: DOE will hold a webinar on
Wednesday, October 30, 2019, from
10:00 a.m. to 3:00 p.m. See section V,
‘‘Public Participation,’’ for webinar
registration information, participant
instructions, and information about the
capabilities available to webinar
participants. If no participants register
for the webinar than it will be cancelled.
DOE will hold a public meeting on this
proposed determination if one is
requested by November 5, 2019.
Comments: Written comments and
information are requested and will be
accepted on or before December 23,
2019.
SUMMARY:
Interested persons are
encouraged to submit comments using
the Federal eRulemaking Portal at
https://www.regulations.gov. Follow the
instructions for submitting comments.
Alternatively, interested persons may
submit comments, identified by docket
number EERE–2015–BT–STD–0006, by
any of the following methods:
(1) Federal eRulemaking Portal:
https://www.regulations.gov. Follow the
instructions for submitting comments.
(2) Email:
FluorLampBallast2015STD0006@
ADDRESSES:
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ee.doe.gov. Include the docket number
EERE–2015–BT–STD–0006 in the
subject line of the message.
(3) Postal Mail: Appliance and
Equipment Standards Program, U.S.
Department of Energy, Building
Technologies Office, Mailstop EE–5B,
1000 Independence Avenue SW,
Washington, DC 20585–0121.
Telephone: (202) 287–1445. If possible,
please submit all items on a compact
disc (‘‘CD’’), in which case it is not
necessary to include printed copies.
(4) Hand Delivery/Courier: Appliance
and Equipment Standards Program, U.S.
Department of Energy, Building
Technologies Office, 950 L’Enfant Plaza
SW, 6th Floor, Washington, DC 20024.
Telephone: (202) 287–1445. If possible,
please submit all items on a CD, in
which case it is not necessary to include
printed copies.
No telefacsimiles (faxes) will be
accepted. For detailed instructions on
submitting comments and additional
information on this process, see section
VII of this document.
Docket: The docket, which includes
Federal Register notices, public meeting
attendee lists and transcripts,
comments, and other supporting
documents/materials, is available for
review at https://www.regulations.gov.
All documents in the docket are listed
in the https://www.regulations.gov index.
However, not all documents listed in
the index may be publicly available,
such as information that is exempt from
public disclosure.
The docket web page can be found at
https://www.regulations.gov/
document?D=EERE-2015-BT-STD-0006.
The docket web page contains
instructions on how to access all
documents, including public comments,
in the docket. See section VII, ‘‘Public
Participation,’’ for further information
on how to submit comments through
https://www.regulations.gov.
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:
ApplianceStandardsQuestions@
ee.doe.gov.
Ms. Sarah Butler, U.S. Department of
Energy, Office of the General Counsel,
GC–33, 1000 Independence Avenue SW,
Washington, DC 20585–0121.
Telephone: (202) 586–1777. Email:
Sarah.Butler@hq.doe.gov.
For further information on how to
submit a comment or review other
public comments and the docket contact
the Appliance and Equipment
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Standards Program staff at (202) 287–
1445 or by email:
ApplianceStandardsQuestions@
ee.doe.gov.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Synopsis of the Proposed Determination
II. Introduction
A. Authority and Background
1. Current Standards
2. History of Standards Rulemakings for
Fluorescent Lamp Ballasts
III. General Discussion
A. Product Classes and Scope of Coverage
B. Test Procedure
C. Technological Feasibility
1. General
2. Maximum Technologically Feasible
Levels
D. Energy Savings
1. Determination of Savings
2. Significance of Savings
E. Cost Effectiveness
F. Other Analyses
IV. Methodology and Discussion of Related
Comments
A. Market and Technology Assessment
1. Scope of Coverage and Product Classes
a. Dimming Ballasts
b. Ballasts Operating at 480 V
c. Low-Current PS Ballasts
d. Low Frequency EMI Ballasts
2. Metric
a. Active Mode Energy Consumption
b. Standby Mode Energy Consumption
3. Technology Options
4. Screening Analysis
a. Screened-Out Technologies
b. Remaining Technologies
5. Product Classes
a. Existing Product Classes
b. Additional Product Classes
c. Summary
B. Engineering Analysis
1. Significant Data Sources
2. Representative Product Classes
3. Baseline Ballasts
4. More-Efficient Substitutes
5. Efficiency Levels
6. Scaling to Other Product Classes
7. Proprietary Designs
C. Product Price Determination
D. Energy Use Analysis
1. Reduced Wattage Fluorescent Lamps
2. Occupancy Sensors
3. Dimming Ballasts
4. Tubular LEDs
E. Life-Cycle Cost and Payback Period
Analysis
1. Product Cost
2. Installation Cost
3. Annual Energy Consumption
4. Energy Prices
5. Maintenance and Repair Costs
6. Product Lifetime
7. Discount Rates
8. Energy Efficiency Distribution in the NoNew-Standards Case
9. Payback Period Analysis
F. Shipments Analysis
1. Shipment Scenarios Modeled
2. Dimming Ballasts
3. Tubular LEDs
G. National Impact Analysis
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1. Product Efficiency Trends
2. National Energy Savings
3. Net Present Value Analysis
H. Manufacturer Impact Analysis
1. Manufacturer Production Costs
2. Shipments Projections
3. Product and Capital Conversion Costs
4. Markup Scenarios
5. Manufacturer Interviews
a. Shift to Solid-State Lighting
b. Limited Investment in Fluorescent Lamp
Ballasts
6. Discussion of MIA Comments
V. Analytical Results and Conclusions
A. Economic Impacts on Individual
Consumers
1. Life-Cycle Cost and Payback Period
2. Rebuttable Presumption Payback
B. National Impact Analysis
1. Significance of Energy Savings
2. Net Present Value of Consumer Costs
and Benefits
C. Economic Impacts on Manufacturers
1. Industry Cash Flow Analysis Results
2. Direct Impacts on Employment
3. Impacts on Manufacturing Capacity
4. Impacts on Subgroups of Manufacturers
5. Cumulative Regulatory Burden
D. Proposed Determination
1. Technological Feasibility
2. Cost Effectiveness
3. Significant Conservation of Energy
4. Other Analysis
5. Summary
VI. Procedural Issues and Regulatory Review
A. Review Under Executive Order 12866
B. Review Under Executive Orders 13771
and 13777
C. Review Under the Regulatory Flexibility
Act
D. Review Under the National
Environmental Policy Act of 1969
E. Review Under Executive Order 13132
F. Review Under Executive Order 12988
G. Review Under the Unfunded Mandates
Reform Act of 1995
H. Review Under the Treasury and General
Government Appropriations Act, 1999
I. Review Under Executive Order 12630
J. Review Under the Treasury and General
Government Appropriations Act, 2001
K. Review Under Executive Order 13211
L. Information Quality
VII. Public Participation
A. Participation in the Webinar
B. Submission of Comments
C. Issues on Which DOE Seeks Comment
VIII. Approval of the Office of the Secretary
I. Synopsis of the Proposed
Determination
Title III, Part B 1 of the Energy Policy
and Conservation Act of 1975, as
amended (EPCA),2 established the
Energy Conservation Program for
Consumer Products Other Than
Automobiles. (42 U.S.C. 6291–6309)
1 For editorial reasons, upon codification in the
U.S. Code, Part B was redesignated Part A.
2 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).
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These products include fluorescent
lamp ballasts, the subject of this NOPD.
DOE is issuing this NOPD pursuant to
the EPCA requirement that not later
than 6 years after issuance of any final
rule establishing or amending an energy
conservation standard for a covered
product, DOE must publish either a
notice of determination indicating that
standards for the product do not need to
be amended, or a notice of proposed
rulemaking (NOPR) including new
proposed energy conservation
standards. (42 U.S.C. 6295(m)(1)(A) and
(B))
For this proposed determination, DOE
analyzed fluorescent lamp ballasts
subject to standards specified in 10 CFR
430.32(m). In addition, DOE evaluated
whether current standards should be
extended to additional fluorescent lamp
ballasts. Specifically, DOE considered
standards for dimming ballasts and 4foot T8 medium bipin (MBP)
programmed start (PS) ballasts with an
average current less than 140 mA
(hereafter low-current PS ballasts).
Hence, potential amended energy
conservation standards in this NOPD
refer not only to changes to existing
standards but also extension of
standards to additional fluorescent lamp
ballasts.
DOE first analyzed the technological
feasibility of more efficient fluorescent
lamp ballasts. For those fluorescent
lamp ballasts for which DOE
determined it to be technologically
feasible to have higher standards or be
subject to standards, DOE estimated
energy savings that would result from
potential energy conservation standards
by conducting a national impacts
analysis (NIA). DOE evaluated whether
these amended standards would be cost
effective by conducting life-cycle cost
(LCC) and payback period (PBP)
analyses, and estimated the net present
value (NPV) of the total costs and
benefits experienced by consumers. In
addition to the consideration of these
criteria, DOE conducted a manufacturer
impact analyses (MIA).
Based on the results of these analyses
summarized in section V of this
document, DOE has tentatively
determined that current standards for
fluorescent lamp ballasts do not need to
be amended because amended standards
would not be cost effective.
II. Introduction
The following section briefly
discusses the statutory authority
underlying this proposed determination,
as well as some of the relevant historical
background related to the establishment
of standards for fluorescent lamp
ballasts.
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A. Authority and Background
Title III, Part B of EPCA includes the
fluorescent lamp ballasts that are the
subject of this proposed determination.
(42 U.S.C. 6292(a)(13)) EPCA prescribed
energy conservation standards for these
products. (42 U.S.C. 6295(g)(5)) EPCA
directed DOE to (1) conduct two
rulemaking cycles to determine whether
these standards should be amended; and
(2) for each rulemaking cycle, determine
whether the standards in effect for
fluorescent lamp ballasts should be
amended so that they would be
applicable to additional fluorescent
lamp ballasts. (42 U.S.C. 6295(g)(7)(A)
and (B)) Through amendments to EPCA
under the Energy Policy Act of 2005
(EPACT 2005), Public Law 109–58,
Congress promulgated new energy
conservation standards for certain
fluorescent lamp ballasts. (EPACT
section 135(c)(2); codified at 42 U.S.C.
6295(g)(8)(A))
The energy conservation program for
covered products under EPCA consists
essentially of four parts: (1) Testing, (2)
labeling, (3) the establishment of
Federal energy conservation standards,
and (4) certification and enforcement
procedures. The Federal Trade
Commission (FTC) is primarily
responsible for labeling, and DOE
implements the remainder of the
program.
Subject to certain criteria and
conditions, DOE is required to develop
test procedures to measure the energy
efficiency, energy use, or estimated
annual operating cost of each covered
product. (42 U.S.C. 6295(o)(3)(A) and
(r)) Manufacturers of covered products
must use the prescribed DOE test
procedure as the basis for certifying to
DOE that their products comply with
the applicable energy conservation
standards adopted under EPCA and
when making representations to the
public regarding the energy use or
efficiency of those products. (42 U.S.C.
6293(c) and 6295(s)) Similarly, DOE
must use these test procedures to
determine whether the products comply
with standards adopted pursuant to
EPCA. (42 U.S.C. 6295(s)) The DOE test
procedures for fluorescent lamp ballasts
appear at title 10 of the Code of Federal
Regulations (CFR) part 430, subpart B,
appendix Q.
Federal energy conservation
requirements generally supersede State
laws or regulations concerning energy
conservation testing, labeling, and
standards. (42 U.S.C. 6297(a) through
(c)) DOE may, however, grant waivers of
Federal preemption for particular State
laws or regulations, in accordance with
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the procedures and other provisions set
forth under 42 U.S.C. 6297(d)).
Pursuant to the amendments
contained in the Energy Independence
and Security Act of 2007 (EISA 2007),
Public Law 110–140, any final rule for
new or amended energy conservation
standards promulgated after July 1,
2010, is required to address standby
mode and off mode energy use. (42
U.S.C. 6295(gg)(3)) Specifically, when
DOE adopts a standard for a covered
product after that date, it must, if
justified by the criteria for adoption of
standards under EPCA (42 U.S.C.
6295(o)), incorporate standby mode and
off mode energy use into a single
standard, or, if that is not feasible, adopt
a separate standard for such energy use
for that product. (42 U.S.C.
6295(gg)(3)(A) and (B)) DOE’s current
test procedures for fluorescent lamp
ballasts address standby mode and off
mode energy use. In this analysis DOE
considers such energy use in its
determination of whether energy
conservation standards need to be
amended.
DOE is issuing this proposed
determination pursuant to 42 U.S.C.
6295(m), which states that DOE must
periodically review its already
established energy conservation
standards for a covered product no later
than 6 years from the issuance of a final
rule establishing or amending a
standard for a covered product. As a
result of this review, DOE must either
publish a determination that standards
do not need to be amended or a NOPR,
including new proposed standards
(proceeding to a final rule, as
appropriate). (42 U.S.C. 6295(m)(1))
EPCA further provides that, not later
than 3 years after the issuance of a final
determination not to amend standards,
DOE must make a new determination
and publish either a notice of
determination that standards for the
product do not need to be amended, or
a NOPR including new proposed energy
conservation standards (proceeding to a
final rule, as appropriate). (42 U.S.C.
6295(m)(3)(B)) DOE must make the
analysis on which the determination is
based publicly available and provide an
opportunity for written comment. (42
U.S.C. 6295(m)(2)) A determination that
amended standards are not needed must
be based on consideration of whether
amended standards will result in
significant conservation of energy, are
technologically feasible, and are cost
effective. (42 U.S.C. 6295(m)(1)(A) and
(n)(2)) An evaluation of cost
effectiveness requires that DOE consider
savings in operating costs throughout
the estimated average life of the covered
products in the type (or class) compared
to any increase in the price of, or initial
charges for, or maintenance expenses of,
the covered products that are likely to
result from the standard. (42 U.S.C.
6295(n)(2) and (o)(2)(B)(i)(II))
1. Current Standards
In a final rule published on November
14, 2011, DOE prescribed the current
energy conservation standards for
fluorescent lamp ballasts manufactured
on and after November 14, 2014 (2011
FL Ballast Rule). 76 FR 70548. These
standards require a minimum power
factor of 0.9 or greater for ballasts that
are not residential ballasts or 0.5 or
greater for residential ballasts and a
minimum ballast luminous efficiency
(BLE) as set forth in DOE’s regulations
at 10 CFR 430.32(m) and repeated in
Table II.1.
TABLE II.1—FEDERAL ENERGY CONSERVATION STANDARDS FOR FLUORESCENT LAMP BALLASTS
BLE = A / (1 + B * average total lamp arc power ∧¥C) Where A, B, and C are as follows:
Description
A
Instant start and rapid start ballasts (not classified as residential) that are designed to operate:
4-foot medium bipin lamps, 2-foot U-shaped lamps, 8-foot slimline lamps .....................................
Programmed start ballasts (not classified as residential) that are designed to operate:
4-foot medium bipin lamps, 2-foot U-shaped lamps, 4-foot miniature bipin standard output
lamps, 4-foot miniature bipin high output lamps ..........................................................................
Instant start and rapid start ballasts (not classified as sign ballasts) that are designed to operate 8foot high output lamps .........................................................................................................................
Programmed start ballasts (not classified as sign ballasts) that are designed to operate 8-foot high
output lamps .........................................................................................................................................
Sign ballasts that operate 8-foot high output lamps ...............................................................................
Instant start and rapid start residential ballasts that operate:
4-foot medium bipin lamps, 2-foot U-shaped lamps, 8-foot slimline lamps .....................................
Programmed start residential ballasts that are designed to operate:
4-foot medium bipin lamps, 2-foot U-shaped lamps ........................................................................
2. History of Standards Rulemakings for
Fluorescent Lamp Ballasts
On September 19, 2000, DOE
published a final rule in the Federal
Register, which completed the first of
the two rulemaking cycles to evaluate
and amend the energy conservation
standards for fluorescent lamp ballasts
(2000 FL Ballast Rule). 65 FR 56740.
The rulemaking established a standard
reflecting a recommendation presented
in a joint comment submitted by
members of the fluorescent lamp ballast
(FLB) industry and energy efficiency
advocacy organizations. (Id.)
On October 18, 2005, DOE published
a final rule in the Federal Register
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codifying the new FLB standards
established in EPACT 2005 section
135(c)(2) into the CFR at 10 CFR
430.32(m). 70 FR 60407. These
standards established ballast efficiency
requirements for ballasts that operate
‘‘energy saver’’ versions of full-wattage
lamps, such as the F34T12 lamp.
Following the amendments from
EPACT 2005, the second rulemaking
cycle required by 42 U.S.C. 6295(g)(7)
was completed with publication of the
2011 FL Ballast Rule. 76 FR 70548. The
2011 FL Ballast Rule changed the metric
required for fluorescent lamp ballasts
from ballast efficacy factor (BEF) to
ballast luminous efficiency (BLE) and
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B
C
0.993
0.27
0.25
0.993
0.51
0.37
0.993
0.38
0.25
0.973
0.993
0.70
0.47
0.37
0.25
0.993
0.41
0.25
0.973
0.71
0.37
set new and amended energy
conservation standards.
In support of the present review of the
fluorescent lamp ballast energy
conservation standards, DOE prepared
the ‘‘Energy Conservation Standards
Rulemaking Framework Document for
Fluorescent Lamp Ballasts’’ (Framework
Document), which describes the
procedural and analytical approaches
DOE anticipated using to evaluate
energy conservation standards for
fluorescent lamp ballasts. On June 23,
2015, DOE published a notice
announcing the availability of the
Framework document. 80 FR 35886.
The Framework document is available
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at https://www1.eere.energy.gov/
buildings/appliance_standards/
standards.aspx?productid=3.
DOE held a public meeting on July 17,
2015, at which it described the various
analyses that DOE would conduct as
part of its review of the energy
conservation standards for fluorescent
lamp ballasts, such as the engineering
analysis, the LCC and PBP analyses, and
the NIA. Representatives for
manufacturers, trade associations,
environmental and energy efficiency
advocates, and other interested parties
attended the meeting.3
III. General Discussion
DOE developed this proposed
determination after considering oral and
written comments, data, and
information from interested parties that
represent a variety of interests. This
notice addresses issues raised by these
commenters.
A. Product Classes and Scope of
Coverage
When evaluating and establishing
energy conservation standards, DOE
divides covered products into product
classes by the type of energy used or by
capacity or other performance-related
features that justify differing standards.
In making a determination whether a
performance-related feature justifies a
different standard, DOE must consider
such factors as the utility of the feature
to the consumer and other factors DOE
determines are appropriate. (42 U.S.C.
6295(q)) The product classes for this
proposed determination are discussed
in further detail in section IV.A.5. This
proposed determination covers
fluorescent lamp ballasts defined as a
device which is used to start and
operate fluorescent lamps by providing
a starting voltage and current and
limiting the current during normal
operation. 10 CFR 430.2. The scope of
coverage is discussed in further detail in
section IV.A.1.
B. Test Procedure
EPCA sets forth generally applicable
criteria and procedures for DOE’s
adoption and amendment of test
procedures. (42 U.S.C. 6293)
Manufacturers of covered products must
use these test procedures to certify to
DOE that their product complies with
energy conservation standards and to
quantify the efficiency of their product.
DOE’s current energy conservation
standards for fluorescent lamp ballasts
3 A transcript of the public meeting and
supporting documents are available in the docket
for this proposed determination at: https://
www.regulations.gov/docket?D=EERE-2015-BTSTD-0006.
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are expressed in terms of BLE. (See 10
CFR 430.32(m).)
DOE published a test procedure final
rule on October 22, 2009, establishing
standby mode energy consumption test
procedures for fluorescent lamp ballasts
(2009 Standby Test Procedure). 74 FR
54445. DOE published a test procedure
final rule on May 4, 2011, establishing
revised active mode test procedures for
fluorescent lamp ballasts (2011 Active
Mode Test Procedure). 76 FR 25211.
The test procedures for fluorescent lamp
ballasts are codified in appendix Q to
subpart B of part 430.4
Subsequently, DOE published several
final rules further refining the test
procedures for fluorescent lamp ballasts.
On February 4, 2015, in a final rule,
DOE adopted amendments to further
specify the appropriate test procedure
and that followed the intent of the 2011
Active Mode Test Procedure to support
any new or revised energy conservation
standards at the time those standards
require compliance. 80 FR 5896. On
June 5, 2015, in a final rule, DOE
revised definitions and test setup,
modified organization of requirements,
and deleted obsolete requirements. 80
FR 31971. On April 29, 2016, in a final
rule, DOE replaced all instances of
ballast efficacy factor (BEF) with BLE as
applicable, added rounding instructions
for BLE and power factor, clarified
represented value instructions for power
factor, and clarified lamp-ballast
pairings for testing. 81 FR 25595.
In the Framework document, DOE
requested comments on the current test
procedures for fluorescent lamp ballasts
and whether amendments are needed.
Pacific Gas and Electric Company,
Southern California Gas Company, San
Diego Gas and Electric Company, and
Southern California Edison, collectively
referred to herein as the California
investor-owned utilities (CA IOUs), and
the Northwest Energy Efficiency
Alliance (NEEA) recommended that
DOE begin a review of its test procedure
for fluorescent lamp ballasts if it is
considering expanding the scope of
standards to dimming ballasts. (CA
IOUs, No. 10 at p. 3; NEEA, Public
Meeting Transcript, No. 5 at p. 68) The
National Electrical Manufacturers
Association (NEMA) and Philips
Lighting North America Corporation
(Philips) 5 stated that some technical
4 The 2011 Active Mode Test Procedure Final
Rule established appendix Q1 to subpart B of part
430, which was subsequently redesignated as
appendix Q to subpart B of part 430 by the
clarification rule published in 2015. 80 FR 31971
(June 5, 2015).
5 Between the time of the public meeting and the
publication of this NOPD, Philips Lighting changed
its name to Signify. However, because at the time,
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experts have been considering an
alternative testing procedure that would
require preheating potted ballasts. They
asserted that this alternative test
procedure would remove the need to
acquire large amounts of data and save
time but yield comparable results to the
current DOE test procedure. (Philips,
No. 8 at p. 2; NEMA, No. 12 at p. 2)
DOE appreciates the feedback on
DOE’s current test procedures for
fluorescent lamp ballasts. DOE initiated
a review of the test procedures and on
March 18, 2019, published a notice of
proposed rulemaking for FLB test
procedures in which it discusses these
comments in detail (hereafter ‘‘FLB TP
NOPR’’). 84 FR 9910.
C. Technological Feasibility
1. General
In evaluating potential amendments
to energy conservation standards, DOE
conducts a screening analysis based on
information gathered on all current
technology options and prototype
designs that could improve the
efficiency of the products or equipment
that are the subject of the rulemaking.
As the first step in such an analysis,
DOE develops a list of technology
options for consideration in
consultation with manufacturers, design
engineers, and other interested parties.
DOE then determines which of those
means for improving efficiency are
technologically feasible. DOE considers
technologies incorporated in
commercially available products or in
working prototypes to be
technologically feasible. 10 CFR part
430, subpart C, appendix A, section
4(a)(4)(i)
After DOE has determined that
particular technology options are
technologically feasible, it further
evaluates each technology option in
light of the following additional
screening criteria: (1) Practicability to
manufacture, install, and service; (2)
adverse impacts on product utility or
availability; and (3) adverse impacts on
health or safety. 10 CFR part 430,
subpart C, appendix A, section
4(a)(4)(ii)–(iv) Additionally, it is DOE
policy not to include in its analysis any
proprietary technology that is a unique
pathway to achieving a certain
efficiency level. Section IV.A.4 of this
document discusses the results of the
screening analysis for fluorescent lamp
ballasts, particularly the designs DOE
considered, those it screened out, and
the name was Philips, as well as comments in the
docket were provided under the Philips name,
throughout this document, its comments will refer
to the company name at the time of the public
meeting.
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those that are the basis for the standards
considered in this proposed
determination. For further details on the
screening analysis for this proposed
determination, see chapter 4 of the
NOPD technical support document
(TSD).
2. Maximum Technologically Feasible
Levels
When DOE considers amended
standards for a type or class of covered
product, it must determine the
maximum improvement in energy
efficiency or maximum reduction in
energy use that is technologically
feasible for such a product. (42 U.S.C.
6295(p)(1)) Accordingly, in the
engineering analysis, DOE determined
the maximum technologically feasible
(‘‘max-tech’’) improvements in energy
efficiency for fluorescent lamp ballasts,
using the design parameters for the most
efficient products available on the
market or in working prototypes. The
max-tech levels that DOE determined
for this analysis are described in section
IV.B of this proposed determination and
in chapter 5 of the NOPD TSD.
D. Energy Savings
1. Determination of Savings
For each efficiency level (EL)
evaluated, DOE projected energy savings
from application of the EL to the
fluorescent lamp ballast purchased in
the 30-year period that begins in the
assumed year of compliance with the
potential standards (2023–2052). The
savings are measured over the entire
lifetime of the fluorescent lamp ballasts
purchased in the previous 30-year
period. DOE quantified the energy
savings attributable to each EL as the
difference in energy consumption
between each standards case and the nonew-standards case. The no-newstandards case represents a projection of
energy consumption that reflects how
the market for a product would likely
evolve in the absence of amended
energy conservation standards.
DOE used its NIA spreadsheet model
to estimate national energy savings
(NES) from potential amended
standards for fluorescent lamp ballasts.
The NIA spreadsheet model (described
in section IV.G of this document)
calculates energy savings in terms of site
energy, which is the energy directly
consumed by products at the locations
where they are used. For electricity,
DOE reports NES in terms of both site
and source energy savings, which is the
savings in the energy that is used to
generate and transmit the site
electricity. DOE also calculates NES in
terms of full-fuel-cycle (FFC) energy
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savings. The FFC metric includes the
energy consumed in extracting,
processing, and transporting primary
fuels (i.e., coal, natural gas, petroleum
fuels), and thus presents a more
complete picture of the impacts of
energy conservation standards.6 DOE’s
approach is based on the calculation of
an FFC multiplier for each of the energy
types used by covered products or
equipment. For more information on
FFC energy savings, see section IV.G of
this document.
2. Significance of Savings
In determining whether amended
standards are needed, DOE must
consider whether such standards will
result in significant conservation of
energy. (42 U.S.C. 6295(m)(1)(A)) In the
Proposed Procedures for Use in New or
Revised Energy Conservation Standards
and Test Procedures for Consumer
Products and Commercial/Industrial
Equipment (‘‘Proposed Process Rule’’),
DOE recently proposed to define a
significant energy savings threshold. (84
FR 3910, February 13, 2019).
Specifically, DOE stated that it is
considering using two step approach
that would consider both a quad
threshold value and a percentage
threshold value to ascertain whether a
potential standard satisfies 42 U.S.C.
6295(o)(3)(B) to ensure that DOE avoids
setting a standard that ‘‘will not result
in significant conservation of energy.’’
84 FR 3924. In a subsequent Notice of
Data Availability, DOE noted that
because EPCA uses a household energy
consumption metric as a threshold for
setting standards for new covered
products (42 U.S.C. 6295(l)(1)), DOE
believes that site energy would be the
most appropriate metric for evaluating
energy savings across rulemakings. (86
FR 36037, July 26, 2019) As a result,
DOE provided national site energy
savings data from its past rulemakings
for public comment to help inform
DOE’s decision regarding whether (and
how) to define a threshold for
significant energy savings. Consistent
with this approach, in addition to
source energy savings and FFC energy
savings, DOE’s analysis presents site
energy savings. In addition, DOE’s
conclusions with respect to significance
of energy savings are based on site
energy savings. DOE’s updates to the
Process Rule have not yet been
finalized.
6 The FFC metric is discussed in DOE’s statement
of policy and notice of policy amendment. 76 FR
51282 (Aug. 18, 2011), as amended at 77 FR 49701
(Aug. 17, 2012).
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E. Cost Effectiveness
In making a determination of whether
amended energy conservation standards
are needed, EPCA requires DOE to
consider the cost effectiveness of
amended standards in the context of the
savings in operating costs throughout
the estimated average life of the covered
product compared to any increase in the
price of, or in the initial charges for, or
maintenance expenses of, the covered
product that are likely to result from a
standard. (42 U.S.C. 6295(m)(1)(A),
(n)(2), and (o)(2)(B)(i)(II))
In determining cost effectiveness of
amending standards for fluorescent
lamp ballasts, DOE conducted LCC and
PBP analyses to evaluate the economic
effects on individual consumers of
potential energy conservation standards
for fluorescent lamp ballasts. To further
inform DOE’s consideration of the cost
effectiveness of amended standards,
DOE considered the NPV of total costs
and benefits estimated as part of the
NIA. The inputs for determining the
NPV of the total costs and benefits
experienced by consumers are (1) total
annual installed cost, (2) total annual
operating costs (energy costs and repair
and maintenance costs), and (3) a
discount factor to calculate the present
value of costs and savings.
F. Other Analyses
In addition, DOE conducted a MIA
that determines the potential economic
impact of amended standards on FLB
manufacturers.
The analyses employed by DOE in its
consideration of each of the criteria
applied are discussed in the following
sections.
IV. Methodology and Discussion of
Related Comments
This section addresses the analyses
DOE performed for this proposed
determination with regard to fluorescent
lamp ballasts. Separate subsections
address each component of DOE’s
analyses. DOE used several analytical
tools to estimate the impact of potential
energy conservation standards. The first
tool is a spreadsheet that calculates the
LCC savings and PBP of potential energy
conservation standards. The NIA uses a
second spreadsheet set that provides
shipments projections and calculates
NES and net present value of total
consumer costs and savings expected to
result from potential energy
conservation standards. DOE uses the
third spreadsheet tool, the Government
Regulatory Impact Model (GRIM), to
assess manufacturer impacts of potential
standards. These three spreadsheet tools
are available on the website: https://
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Federal Register / Vol. 84, No. 204 / Tuesday, October 22, 2019 / Proposed Rules
www.regulations.gov/docket?D=EERE2015-BT-STD-0006.
A. Market and Technology Assessment
DOE develops information in the
market and technology assessment that
provides an overall picture of the
market for the products concerned,
including the purpose of the products,
the industry structure, manufacturers,
market characteristics, and technologies
used in the products. This activity
includes both quantitative and
qualitative assessments, based primarily
on publicly available information. The
subjects addressed in the market and
technology assessment for this proposed
determination include (1) a
determination of the scope and product
classes, (2) manufacturers and industry
structure, (3) existing efficiency
programs, (4) shipments information, (5)
market and industry trends, and (6)
technologies or design options that
could improve the energy efficiency of
fluorescent lamp ballasts. The key
findings of DOE’s market assessment are
summarized in the following sections.
See chapter 3 of the NOPD TSD for
further discussion of the market and
technology assessment.
1. Scope of Coverage and Product
Classes
Fluorescent lamp ballast means a
device which is used to start and
operate fluorescent lamps by providing
a starting voltage and current and
limiting the current during normal
operation. 10 CFR 430.2. In this
analysis, DOE relied on the definition of
‘‘fluorescent lamp’’ in 10 CFR 430.2,
which provides the specific lamp
lengths, bases, and wattages included by
the term. Any product meeting the
definition of fluorescent lamp ballast is
included in DOE’s scope of coverage,
though all products within the scope of
coverage may not be subject to
standards.
As part of its review of energy
conservation standards for fluorescent
lamp ballasts, DOE also evaluated
whether current standards should be
extended to additional fluorescent lamp
ballasts.
Fluorescent lamp ballasts
manufactured on or after November 14,
2014, that are designed and marketed to
operate at an input voltage at or between
120 volts (V) and 277 V, to operate with
an input current frequency of 60 hertz,
and for use with fluorescent lamps as
defined in 10 CFR 430.2, are currently
required to comply with the energy
conservation standards at 10 CFR
430.32(m)(1).
Fluorescent lamp ballasts
manufactured on or after November 14,
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2014, that are designed and marketed to
operate at an input voltage at or between
120 and 277 V, to operate with an input
current frequency of 60 hertz, for
dimming to 50 percent or less of the
maximum output of the ballast, and to
operate one or two F34T12 lamps, two
F96T12 Energy Saver (ES) lamps, or two
F96T12 high output (HO) ES lamps are
required to comply with the energy
conservation standards at 10 CFR
430.32(m)(2).
The following fluorescent lamp
ballasts are exempt from standards: (1)
A dimming ballast designed and
marketed to operate exclusively lamp
types other than one F34T12, two
F34T12, two F96T12/ES, or two
F96T12HO/ES lamps; (2) a low
frequency ballast that is designed and
marketed to operate T8 diameter lamps;
is designed and marketed for use in
electromagnetic-interference-sensitiveenvironments only; and is shipped by
the manufacturer in packages containing
10 or fewer ballasts; or (3) a
programmed start ballast that operates
4-foot medium bipin T8 lamps and
delivers on average less than 140
milliamperes (mA) to each lamp. 10
CFR 430.32(m)(3).
In the Framework document, DOE
considered extending the scope of
standards to the following: (1) All
dimming ballasts, (2) 4-foot T8 MBP
programmed start (PS) ballasts with an
average current less than 140 mA, and
(3) ballasts that operate on an input
voltage of 480 V. DOE did not consider
extending the scope of standards to low
frequency ballasts that are designed and
marketed to operate T8 diameter lamps
and for use in electromagneticinterference-sensitive-environments
(EMI-sensitive-environments) only.
DOE received several general
comments on its consideration of
extending standards to additional
fluorescent lamp ballasts. Philips noted
that such consideration should account
for the declining ballast market that is
reducing annually by about 20 percent.
(Philips, No. 8 at p. 16) NEMA noted
that no new products or categories of
ballasts are under development. (NEMA,
No. 12 at p. 5) However, CA IOUs stated
that DOE has the opportunity to capture
significant energy savings for
fluorescent lamp ballasts by expanding
the scope of standards to previously
exempted products (e.g., dimming
ballasts). CA IOUs recommended that
DOE evaluate the market and utility for
ballasts used in EMI environments,
ballasts that operate at input voltages of
480 V, and low-current PS ballasts to
determine if exemptions for these
products are still warranted. (CA IOUs,
No. 10 at p. 1) The Appliance Standards
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56545
Awareness Project (ASAP) similarly
stated that DOE should consider
expanding the scope of standards to
include other fluorescent lamp ballasts
to avoid potential loopholes. (ASAP,
No. 7 at p. 3) Lutron noted that because
light-emitting diode (LED) technology is
still new and already more efficacious
than fluorescent technology, it is
premature to subject LED drivers to
standards. (Lutron, No. 9 at p. 3)
DOE conducted an assessment of
whether standards should be extended
to certain fluorescent lamp ballasts that
are not currently subject to standards.
DOE also evaluated whether current
exemptions from standards should be
maintained. DOE notes that this
proposed determination addresses only
fluorescent lamp ballasts and not any
other technology such as LED drivers.
The following sections discuss DOE’s
consideration of extending the scope of
standards to additional fluorescent lamp
ballasts.
a. Dimming Ballasts
Currently, only certain dimming
ballasts are subject to standards.7 In the
Framework document, DOE stated it
would consider extending standards to
all dimming ballasts. Several
stakeholders did not support DOE
considering standards for all dimming
ballasts. Universal Lighting
Technologies (ULT) asserted that energy
savings from improving the efficiency of
dimming ballasts were likely to be
smaller than energy savings from the
use of controls in a space. (ULT, No. 6
at p. 2) NEMA stated that its business
market survey data indicated that
dimming ballasts are about 2.29 percent
of the linear FLB market. (NEMA, No.
12 at pp. 3–4) Philips stated that while
the fixed output ballast market has
declined overtime and dimming ballasts
have become a larger portion of the
overall mix, in absolute numbers,
dimming ballasts have not increased as
indicated by NEMA’s market data from
the past 12 quarters. Further, Philips
noted that it will be difficult to justify
costs to improve efficiency of dimming
ballasts over investment in solid-state
lighting (SSL) development. (Philips,
No. 8 at pp. 10–11) NEMA, Philips, and
ULT indicated that the dimming ballast
market will shrink due to the
penetration of solid-state lighting. (ULT,
7 Fluorescent lamp ballasts manufactured on or
after November 14, 2014, that are designed to
operate at an input voltage at or between 120 and
277 V and with an input current frequency of 60
hertz, for dimming to 50 percent or less of the
maximum output of the ballast, and to operate one
or two F34T12 lamps, two F96T12 ES lamps, or two
F96T12 HO ES lamps. 10 CFR 430.32(m)(2)
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Federal Register / Vol. 84, No. 204 / Tuesday, October 22, 2019 / Proposed Rules
No. 6 at p. 2; Philips, No. 8 at pp. 10–
11; NEMA, No. 12 at p. 4)
Several stakeholders expressed
support for DOE analyzing standards for
all dimming ballasts. ASAP requested
that DOE consider standards for
fluorescent lamp ballasts capable of
dimming below 50 percent of full
output, and to include digitally
addressable or networkable ballasts.
(ASAP, No. 7 at p. 2) ASAP and CA
IOUs stated that the California Title 24
(CA Title 24 8) building code will greatly
increase sales of ballasts capable of
dimming below 50 percent of full light
output, which currently are not subject
to DOE standards. Therefore, ASAP and
CA IOUs stated that the majority of
ballasts purchased for new construction
projects (as well as some retrofit projects
according to CA IOUs) in California will
not be regulated by DOE. (CA IOUs, No.
10 at p. 2; ASAP, No. 7 at p. 2; CA IOUs,
Public Meeting Transcript, No. 5 at p.
106) ASAP added that it expects that
these changes in California will occur
across the country as new dimming
ballasts become more widely available.
(ASAP, No. 7 at p. 2)
However, ULT and NEMA asserted
that PS fixed output ballasts that are
controlled by occupancy sensors or
other control devices can meet the
requirements of California building
codes and ASHRAE standards (when
adopted) and are already covered by
DOE standards. ULT added that outside
of a specific room (e.g., conference
room) a continuously dimmed product
is not necessary. Further, ULT noted
that solid-state lighting already comes
standard with the ability to
continuously dim. (ULT, No. 6 at p. 2;
NEMA, No. 12 at p. 4)
DOE appreciates the feedback
regarding the shipment trends of
fluorescent lamp ballasts as a whole and
that of dimming ballasts. However, DOE
has observed that since the 2011 FL
Ballast Rule, product offerings of
dimming ballasts have increased. DOE’s
review of manufacturer catalogs
indicates a wide range of dimming
ballast products are now available for
use with several lamp types.9 Further,
DOE has observed a range of efficiencies
for dimming ballasts, indicating that
less efficient products can be improved.
Additionally, as noted by stakeholders,
state and local regulations and building
8 California Energy Commission. 2013 Building
Energy Efficiency Standards for Residential and
Nonresidential Buildings. CEC-400-2012-004–CMF–
REV2. Sacramento, CA: CEC, 2012. Available at
https://www.energy.ca.gov/2012publications/CEC400-2012-004/CEC-400-2012-004-CMF-REV2.pdf.
9 Specifically, 4-foot MBP lamps, 2-foot U-shaped
lamps, 4-foot MiniBP SO lamps, and 4-foot MiniBP
HO lamps.
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codes with increased dimming and/or
lighting control requirements (e.g., CA
Title 24 and ANSI/ASHRAE/IES
Standard 90.1–2016 10) will continue to
support installation of dimming ballasts
in the near future. Therefore, DOE
considers that standards for dimming
ballasts could result in potential energy
savings.
Lutron and NEMA stated that
regulations on dimming ballast
efficiency may reduce their availability
and may limit potential energy savings
from dimming systems. (Lutron, No. 9 at
p. 2; NEMA, No. 12 at pp. 3–4) Lutron
agreed with extending standards to
dimming ballasts if the standards
accommodate functionality and features
of dimming ballasts when used in an
intelligent light system, noting that
these systems will result in more energy
savings than improving the efficiency of
dimming ballasts. (Lutron, No. 9 at p. 2)
In evaluating potential standards,
DOE’s analysis contemplates that
performance characteristics (including
reliability), features, sizes, capacities,
and volumes available to the consumer
would remain available at improved
efficiencies of the product.
In summary, in this analysis DOE
considered standards for dimming
ballasts and presents the results of an
analysis of the technological feasibility,
energy savings, and cost effectiveness of
standards for dimming ballasts.
b. Ballasts Operating at 480 V
Currently only fluorescent lamp
ballasts designed and marketed to
operate at nominal input voltages at or
between 120 and 277 V are subject to
standards. 10 CFR 430.32(m)(1)(i), (2)(i).
ASAP requested that DOE change the
scope of current standards to include
ballasts that operate at 120 V to 480 V.
(ASAP, No. 7 at p. 3) However, ULT,
General Electric (GE), and NEMA stated
that the market for ballasts that operate
at 480 V is very small, and regulation of
these products would not result in a lot
of energy savings. (GE, Public Meeting
Transcript, No. 5 at p. 38; ULT, No. 6
at p. 3; NEMA, No. 12 at p. 5) Philips
agreed and noted that current standards
cover the vast majority of the market by
regulating ballasts that operate at input
voltages of 120 V to 277 V. (Philips, No.
8 at pp. 11–12)
ASAP and CA IOUs raised concerns
that even if the market for these
products is small, they may become a
loophole in industrial applications
because fluorescent technology has been
10 American Society of Heating, Refrigerating, and
Air-Conditioning Engineers. ANSI/ASHRAE/IES
Standard 90.1–2016—Energy Standard for
Buildings Except Low-Rise Residential Buildings.
Atlanta, GA: ASHRAE, 2016.
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replacing high-intensity discharge (HID)
lighting in high bay applications that are
often on 377 V or 480 V circuits. They
encouraged DOE to determine if this
shift to fluorescent technology,
particularly in the retrofit market, will
continue to increase in the future.
(ASAP, No. 7 at p. 3; CA IOUs, No. 10
at p. 10)
ULT stated that ballasts that operate at
480 V are typically used in the
industrial applications that function on
highly transient power (i.e., ‘‘dirty
power’’). ULT and NEMA stated that
these ballasts have added circuitry to
ensure that they can withstand high
transient lines, which also makes them
expensive. (ULT, Public Meeting
Transcript, No. 5 at p. 37; ULT, No. 6
at p. 3; NEMA, No. 12 at p. 5) GE added
that because these ballasts are niche
products, manufacturers would not
expend time and effort to redesign them.
(GE, Public Meeting Transcript, No. 5 at
p. 38) NEMA asserted that if regulated
they would become obsolete. (NEMA,
No. 12 at p. 5)
When considering extending coverage
to additional ballasts, DOE considers
whether potential energy conservation
standards for these products would
result in significant energy savings. In
the 2011 FL Ballast Rule, DOE examined
the ballast market and found input
voltages of 120 V to 277 V to be
common to the U.S. market. Ballasts
outside this range were primarily
designed for foreign markets, such as
347 V ballasts for the Canadian market.
76 FR 70548, 70559. In this analysis,
based on DOE’s review of manufacturer
catalogs, fluorescent lamp ballasts
designed to operate at 120 V to 277 V
remain the most common, and product
offerings for ballasts designed to operate
at voltages higher than 277 V were
minimal. Further, based on
manufacturer feedback and DOE
research, a shift from HID to fluorescent
technology will likely be minor as SSL
technology continues to penetrate the
lighting market.11 Based on DOE’s
assessment, standards for fluorescent
lamp ballasts operating at 480 V would
not likely result in significant energy
savings. Hence, DOE is not considering
extending the scope of standards to
fluorescent lamp ballasts designed and
marketed to operate at voltages higher
than 277 V.
11 There was no increase in shift from HID
technology to fluorescent technology in high-bay
applications from 2012 to 2014 according to the
DOE Adoption of Light-Emitting Diodes in Common
Lighting Applications. Available at https://
energy.gov/sites/prod/files/2015/07/f24/ledadoption-report_2015.pdf.
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c. Low-Current PS Ballasts
Currently DOE exempts from
standards a PS ballast that operates
4-foot T8 MBP lamps and delivers on
average less than 140 milliamperes (mA)
to each lamp (i.e., low-current PS
ballast). 10 CFR 430.32(m)(3)(iii). In the
Framework document, DOE stated it
will reevaluate the justification for this
exemption. (Framework Document, No.
1 at p. 13)
NEMA, ULT, and GE stated that DOE
should continue to exempt low-current
PS ballasts from standards as they are a
niche market. (ULT, Public Meeting
Transcript, No. 5 at p. 37; NEMA, No.
12 at p. 5; GE, Public Meeting
Transcript, No. 5 at p. 38; Philips, No.
8 at p. 11) ULT added that energy
savings from standards would be offset
by those resulting from the low light
output. (ULT, Public Meeting
Transcript, No. 5 at pp. 35–36)
ASAP raised concerns that lowcurrent PS ballasts may become a
loophole in the future as they could
serve as a low-cost option in markets for
inefficient equipment. (ASAP, Public
Meeting Transcript, No. 5 at p. 33) ULT
responded that to operate at a low
ballast factor, a ballast must have an
open current voltage, flicker control, as
well as cathodes, all of which add cost
to such products. (ULT, Public Meeting
Transcript, No. 5 at pp. 35–36)
Further, NEMA and ULT stated that if
regulated, these products would not
comply with DOE efficiency standards
and become obsolete as their low
volume would not warrant redesign,
eliminating a unique utility. (NEMA,
No. 12 at p. 5; ULT, No. 6 at p. 3) ASAP
and CA IOUs stated that the unique
utility of low-current PS ballasts is
unclear. (ASAP, No. 7 at p. 3; CA IOUs,
No. 10 at p. 10) ASAP stated that there
are multiple more-efficient lamp-andballast combinations available on the
market that can provide light output
comparable to low-current PS ballast
systems. (ASAP, No. 7 at p. 3) CA IOUs
suggested alternatives such as using
reduced-wattage lamps or fewer lamps
and/or fixtures as efficient
replacements. However, CA IOUs stated
that if DOE does find the low-current PS
ballasts have a unique utility, DOE
should ensure that they are operating as
efficiently as possible. (CA IOUs, No. 10
at p. 10)
During the 2011 FL Ballast Rule, DOE
determined that ballasts designed to
operate 4-foot T8 MPB lamps are
required to use some level of cathode
power when operating lamps at currents
less than 155 mA to maintain lamp life.
Through testing, DOE learned the ballast
factor of these ballasts was similar to or
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less than 0.7, offering a unique utility of
low light output. Such ballasts also
offered energy savings from their low
power levels and use with occupancy
sensors. However, DOE concluded that,
because BLE decreases as current is
decreased, none of the PS ballasts tested
with an average current of less than 140
mA were able to meet the maximum
efficiency levels analyzed in the PS
product class. Therefore, DOE exempted
these low-current PS ballasts from
standards. 76 FR 70548, 70558.
In this analysis, DOE evaluated
whether DOE should continue to
maintain the exemption of low-current
PS ballasts. DOE has tentatively
determined that alternative options such
as using PS ballasts with operating
current at 140 mA or higher, paired with
reduced-wattage lamps or decreasing
the number of lamps in the system
could provide low light output levels
comparable to those attained using lowcurrent PS ballasts. DOE identified
lamp-and-ballast replacements that
maintained system light output within
10 percent of a lamp-and-ballast system
using a low-current PS ballast and saved
energy.
Because there are reasonable
alternatives to providing the low light
output utility offered by low-current PS
ballasts, the low-light feature provided
may no longer be unique to these
products as when DOE evaluated them
for the 2011 Ballast Rule. As such, DOE
included in its current analysis
potential standards for PS ballasts that
operate 4-foot T8 MBP lamps and
deliver on average less than 140 mA to
each lamp.
d. Low Frequency EMI Ballasts
Currently DOE exempts low
frequency ballasts designed and
marketed to operate T8 diameter lamps
for use in EMI environments only (‘‘low
frequency EMI ballasts’’). They must be
shipped by the manufacturer in
packages containing 10 or fewer
ballasts. 10 CFR 430.32(m)(3)(ii) For
applications in which EMI has been or
is expected to pose safety concerns,
magnetic ballasts that operate at low
frequency are typically recommended.
Because these EMI-related safety
concerns still exist, in the Framework
document, DOE stated it did not plan to
remove this exemption.
NEMA, GE, ULT, and Philips agreed
that low frequency EMI ballasts should
not be subject to standards. (ULT, No. 6
at p. 3; Philips, No. 8 at p. 12; NEMA,
No. 12 at p. 5; GE, Public Meeting
Transcript, No. 5 at p. 43) GE added that
these are a low volume, niche product
and the best solution for EMI-sensitive
environments. (GE, Public Meeting
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Transcript, No. 5 at p. 43) ASAP stated
that the exemption of these ballasts
made sense to the extent that EMI from
technology continues to be a concern.
(ASAP, Public Meeting Transcript, No.
5 at pp. 42–43)
In the 2011 FL Ballast Rule, DOE
conducted research and interviews with
FLB and fixture manufacturers to
identify several applications as
potentially sensitive to EMI.
Applications potentially sensitive to
EMI include but are not limited to
medical operating room telemetry or life
support systems, airport control
systems, electronic test equipment,
radio communication devices, radio
recording studios, correctional facilities,
clean rooms, facilities with low signalto-noise ratios, and aircraft hangars or
other buildings with predominantly
metal construction. 76 FR 70548, 70557.
In this analysis, DOE tentatively finds
that EMI from fluorescent lamp ballasts
continues to be a safety concern.
ASAP asked for more information
regarding the definition of EMI-sensitive
environments, Federal Communications
Commission’s (FCC’s) authority on this
issue, and the method of sales and
shipment to restrict leakage of EMIlabeled product into other applications.
(ASAP, Public Meeting Transcript, No.
5 at pp. 42–43) FCC in 47 CFR part 18
regulates industrial, scientific, and
medical (ISM) equipment that emits
electromagnetic energy on frequencies
within the radio frequency spectrum in
order to prevent harmful interference to
authorized radio communication
services. 47 CFR 18.101. Falling under
the category of radio frequency lighting
devices, fluorescent lamp ballasts would
be subject to certain conduction limits.
47 CFR 18.307(c). (The Department of
Defense (DoD) also has its own EMI
requirements.12) The FCC should be
consulted for further information on
regulating products that emit
electromagnetic energy.
ASAP stated DOE should examine the
full range of existing low EMI, energy
efficient fluorescent lamp technology
options. (ASAP, No. 7 at p. 4) CA IOUs
stated instead of magnetic ballasts
designed and labeled specifically for use
in EMI-sensitive environments,
12 The DoD MIL–STD–461G section CE102
applies to conducted emissions from power leads
between 10 kilohertz (kHz) and 10 megahertz (MHz)
while the standards in section RE102 apply to
radiated emissions between 10 kHz and 18
gigahertz (GHz). These standards establish
‘‘interface and associated verification requirements
for the control of the EMI emission and
susceptibility characteristics of electronic,
electrical, and electromechanical equipment and
subsystems designed or procured for use by
activities and agencies of the Department of Defense
(DoD).’’
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consumers can use ‘‘hybrid’’ magnetic/
electronic ballasts and remote-mounted
electronic ballasts, as well as LED light
sources. CA IOUs encouraged DOE to
reconsider the need for these less
efficient products when alternatives are
available. (CA IOUs, No. 10 at p. 10)
The source of EMI in a fluorescent
lamp-and-ballast system consists mainly
of switching components (transistors) in
the ballast and the fluorescent lamp and
lead wires. In high-frequency electronic
ballasts, switching components create
rapidly changing electric fields
eventually resulting in interference with
other circuits on the line. Lowfrequency magnetic ballasts do not have
switching components, dramatically
reducing EMI generation. Additionally,
lamp and lead wires create a loop that
in the presence of a rapidly switching
alternating current (AC) waveform
creates an antenna for radiated EMI.
This phenomenon is more pronounced
with electronic ballasts compared to
magnetic ballasts. For these reasons,
magnetic ballasts are typically
recommended for use in EMI-sensitive
environments.
In the 2011 FL Ballast Rule, DOE
examined alternative options such as
use of external EMI filters with
electronic ballasts as well as shielding
the ballast with conductive material to
mitigate the effects. However, DOE
could not confirm that such methods
would definitely prevent issues related
to EMI. In this analysis, DOE again
researched alternative options. In
general, DOE found limited product
offerings for hybrid magnetic/electronic
ballasts and remote-mounted electronic
ballasts. DOE’s research indicated that
the hybrid magnetic/electronic ballasts
would not meet existing efficiency
standards. Further remote-mounted
electronic ballasts would require
separate fixtures for the lamp and for
the ballast and require installation of
additional components such as EMI
shielding on the leads and ferrite clamp
on the output wires to safeguard against
EMI issues.13 While the typical LED
systems in which AC power is
converted to DC would cause the same
EMI issues as electronic ballasts, direct
DC-powered LED systems do have the
potential to mitigate EMI issues.
However, these also would require a
fixture change. Further, because these
products are not designed specifically
13 Philips states remote mounting impacts EMI
behavior and additional measures may be necessary
to reduce EMI:
https://images.philips.com/is/content/
PhilipsConsumer/PDFDownloads/
United%20States/ODL20160330_001_UPD_en_US_
PAd-1615DG_Advance_Xitanium_Indoor_Driver_
20160324.pdf#page=5.
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for EMI-sensitive applications, it is not
clear that they adequately mitigate the
effects of EMI.
ASAP stated that because residential
ballasts are subject to less stringent
energy efficiency standards than
commercial ballasts due to being subject
to more stringent FCC EMI
requirements, DOE should at least
subject the low frequency EMI ballasts
to the current residential FLB energy
efficiency standards. (ASAP, No. 7 at p.
4)
DOE’s evaluation indicates that
magnetic ballasts continue to not meet
existing standards, including those for
residential ballasts.
ASAP also stated that DOE should
evaluate if it is necessary to further limit
the language ‘‘designed, labeled, and
marketed for use in EMI-sensitive
environments only’’ used to specify the
exemption as it creates a significant
opportunity for low EMI, low price, and
energy inefficient ballasts to gain
significant market share. ASAP
encouraged DOE to collect sales data on
ballasts specified as low EMI and
intended for commercial use. (ASAP,
No. 7 at pp. 3–4; ASAP, Public Meeting
Transcript, No. 5 at p. 43) Philips stated
that EMI environments are very specific
(e.g., nuclear power plants, military
bases) and because of the low volume,
these ballasts are more expensive.
Therefore, it is unlikely that they would
start replacing electronic ballasts or LED
technology with low frequency EMI
ballasts. (Philips, Public Meeting
Transcript, No. 5 at pp. 43–44)
DOE currently describes the
exemption as ‘‘A low frequency ballast
that is designed and marketed to operate
T8 diameter lamps; is designed and
marketed for use in EMI environments
only; and is shipped by the
manufacturer in packages containing 10
or fewer ballasts.’’ 10 CFR
430.32(m)(3)(ii) DOE finds that because
the definition requires the application to
be stated in all publicly available
documents and caps the amount of
ballasts sold in one package, it is a
sufficient deterrent to potential
unintended use of these ballasts.
Further, based on a review of
manufacturer catalogs, DOE did not find
a substantial number of magnetic
ballasts designed and marketed for use
in EMI-sensitive environments only,
which might have indicated an
increasing market share.
Because magnetic ballasts are the only
option that can definitively address
safety concerns regarding EMI and they
do not meet existing standards, DOE is
not considering removing the current
exemption for low frequency EMIsensitive ballasts.
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2. Metric
a. Active Mode Energy Consumption
Current energy conservation
standards for fluorescent lamp ballasts
are applicable to active mode energy use
and are based on BLE. This metric is a
ratio of the power provided by the
ballast to the lamp divided by the input
power to the ballast. The metric also
includes an adjustment factor to account
for the reduced system efficacy
associated with operation at lowfrequency (i.e., 60 Hertz). DOE
continues to use the BLE metric in this
proposed determination to assess active
mode energy use.
DOE received comments
recommending it adopt a weighted BLE
metric for dimming ballasts. CA IOUs
stated that they had supported
California Energy Commission (CEC) in
developing Title 20 state appliance
energy efficiency standards for
fluorescent lamp ballasts and strongly
suggested DOE take this analysis into
consideration in this effort. (CA IOUs,
No. 10 at p. 2) CA IOUs stated that
dimming ballasts have a large potential
for energy savings because not all
products dim the same way, and prior
to the CEC rule regarding dimming
ballasts, there was no description of
ballast performance at dimmed settings.
(CA IOUs, Public Meeting Transcript,
No. 5 at pp. 72–73)
Due to this lack of data, CA IOUs
tested dimming ballasts to understand
performance below full light output
using the DOE’s test procedure for fixed
output ballasts. (These data are publicly
available in CEC’s rulemaking docket:
#14–AAER–1.) Specifically, CA IOUs
tested 34 T8 dimming ballasts that
operate from one lamp up to four lamps,
which were selected from 180 T8
dimming ballasts listed by the
Consortium for Energy Efficiency (CEE)
as qualifying commercial lighting
products. In addition they tested seven
T5 dimming ballasts that operate two
lamps. CA IOUs stated that this testing,
while not comprehensive of the full
market, was a good starting point. CA
IOUs measured the performance of
dimming ballasts at 100 percent full
output and then at input powers
decreasing by 5 percent increments
until reaching zero light output using
DOE’s current test procedure. Based on
these data, CA IOUs noted that ballasts
that have the same efficiency at full
light output may not perform the same
at lower light output levels. For
instance, two ballasts may have the
same performance at full light output,
but may have a 3–5 W difference in
power consumption at 50 percent of full
output. (CA IOUs, No. 10 at pp. 2–3, 8;
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CA IOUs, Public Meeting Transcript,
No. 5 at pp. 17, 54)
Because of this difference in
efficiency at lower light outputs, CA
IOUs stated that CEC has proposed
standards for dimming fluorescent lamp
ballasts based on weighting the ballast
efficiency measurements at 100 percent,
80 percent, and 50 percent of full arc
power in order to generate one BLE
value. CA IOUs stated that 80 percent is
a typical setting when tuning light and
a built-in assumption for savings in
certain utility lighting programs, and 50
percent is a representative operating
setting for bi-level dimming ballasts. CA
IOUs also stated that these levels were
established after consulting with major
FLB manufacturers and stakeholders
who agreed that accurate and repeatable
measurements could be taken at each of
those operating levels. CA IOUs stated
that DOE consider using these two
points but supported additional test
points below 50 percent of full light
output and recommended DOE conduct
further analysis on the feasibility of
measurements at lower output levels.
(CA IOUs, No. 10 at pp. 2–3; CA IOUs,
Public Meeting Transcript, No. 5 at pp.
17, 54) ASAP agreed with CA IOUs that
the test procedure and metric should be
amended to measure BLE at partial light
output for dimming ballasts, specifically
testing at 80 and 50 percent of full light
output in addition to 100 percent.
(ASAP, No. 7 at pp. 2–3)
The efficiency of a dimming ballast
may differ at different light outputs, and
the efficiency at full light output may
not reflect the efficiency at which the
ballast always performs in application.
However, DOE notes several issues with
the accuracy and consistency in
determining the performance of
dimming ballasts using a weighted
metric approach. First, the lack of
conclusive data makes it difficult to
determine the appropriate weightings to
assign to reduced light output levels to
reflect the most common use of
dimming ballasts. For example, the
weightings proposed by CEC are based
on approximate average energy savings
of dimming ballasts determined from a
study on energy savings from
institutional tuning including the use of
dimming ballasts and switches (i.e.,
light levels adjusted based on locationspecific needs or building policies).14
This study determines energy savings
for one scenario of dimming ballast
usage and is not necessarily
representative of the common
14 Williams, Alison, Barbara Atkinson, Karina
Garbesi, and Francis Rubinstein. A Meta-Analysis of
Energy Savings from Lighting Controls in
Commercial Buildings. Ernest Orlando Lawrence
Berkeley National Laboratory. September 2011.
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application nor actual operating hours
of these products.
Second, as data provided by CA IOUs
show, there is no consistent trend
between efficiency and light output at
lower levels across products.
Manufacturers apply a range of
acceptable cathode powers at lower
currents and choose to do so through
various techniques (i.e., step, gradual)
resulting in varied performance at lower
light output levels. The range of
acceptable cathode powers for T8
fluorescent dimming systems is
provided by NEMA LL 9,15 and both
ballast and lamp manufacturers design
their products accordingly. Hence, the
cathode power required by a lamp may
vary by lamp manufacturer. A
manufacturer who produces both
ballasts and lamps may design both
products to provide/use the minimum
amount of cathode heat. However, a
manufacturer who produces only
ballasts may design their product to
provide the maximum amount of
cathode heat so that it can operate all
lamps available on the market. DOE
finds that it is important to allow for
this flexibility in designing ballasts and
a metric should not favor one approach
over another.
Hence, it is unclear if a weighted BLE
metric would be an accurate
representation of dimming ballasts in
application or provide an approach for
appropriately measuring performance
across dimming products. Therefore,
DOE evaluates the efficiency of
dimming ballasts as the BLE at full light
output, which reflects the most energy
consumptive state. Measuring BLE at
full light output ensures the accuracy of
measured values and provides a
consistent basis for comparing
efficiencies across fluorescent lamp
ballasts. DOE seeks comments on its
evaluation of the efficiency of dimming
ballasts as BLE at full light output. See
section VII.C for a list of issues on
which DOE seeks comment.
For dimming ballasts, Philips
recommended a ballast efficiency metric
that would include cathode power as
opposed to the BLE metric which does
not. Philips explained that to dim light
output the lamp power and thereby
cathode power is reduced. To prevent
the resulting possibility of shortening
lamp life and unstable lamp operation,
most dimming ballasts utilize added
cathode power in dimming mode.
Philips presented an example of a 2L T8
MBP 32 W ballast showing that at full
light output BLE and ballast efficiency
are the same but at lower light output
15 NEMA LL 9–2011, Dimming of T8 Fluorescent
Lighting Systems (approved April 12, 2011).
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56549
levels, ballast efficiency is higher
because it includes total lamp arc power
plus cathode power while BLE includes
total lamp arc power. Philips concluded
that using the BLE metric at lower light
output levels would underrepresent the
efficiency of the ballast. (Philips, No. 8
at pp. 16–29) Therefore, Philips asserted
and NEMA agreed that including
cathode power in the metric is
important because it provides utility to
dimming ballasts at lower light output
levels. (Philips, No. 8 at pp. 16–29;
NEMA, No. 12 at p. 7) Philips noted that
measuring ballast efficiency would
require more measurements, but testing
time could be reduced with the use of
a multiport power analyzer. (Philips,
No. 8 at pp. 16–29)
Because DOE is using a metric of BLE
measured at full light output for
dimming ballasts, the exclusion of
cathode power from this measurement
would not underrepresent the efficiency
of dimming ballasts operating at lower
light output levels. DOE is aware that
the BLE metric represents cathode
power as a loss and that ballasts that use
cathode power will therefore appear less
efficient than ballasts that do not. DOE
accounts for this potential difference in
efficiency by establishing separate
product classes based on starting
method. 10 CFR 430.32(m)(1)(ii)(B).
Philips also commented that the use
of dimming ballasts is different than
fixed output ballasts because they are
always part of a lighting control system,
whether or not it is a simple control.
Philips stated that if dimming ballasts
are required to use less energy, then to
meet such requirements manufacturers
will move control and communications
designs from within the ballast to a
separate extender box. Hence, while the
ballast may be more efficient, the total
efficiency of the system may not
increase. Therefore, Philips suggested
that DOE consider the entire system as
opposed to only the ballast efficiency in
its analysis. (Philips, Public Meeting
Transcript, No. 5 at p. 119)
The scope of this proposed
determination is fluorescent lamp
ballasts and not an entire fluorescent
lighting system. DOE finds that BLE
adequately captures the efficiency of all
fluorescent lamp ballasts. DOE does
analyze energy use of the lamp-andballast system and uses this assessment
of system energy use in its downstream
analyses (i.e., LCC, NIA, etc.).
CA IOUs stated that it is likely that
their analysis of efficiencies of dimming
ballasts in the dimming range below 140
mA will also be useful in understanding
the cathode heating needs and
determining appropriate standard levels
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for fixed-output, low current ballasts.
(CA IOUs, No. 10 at p. 10)
DOE appreciates the data provided by
CA IOUs. As noted, DOE evaluates all
fluorescent lamp ballasts in this analysis
based on BLE measured at full light
output.
b. Standby Mode Energy Consumption
EPCA requires energy conservation
standards adopted for a covered product
after July 1, 2010, to address standby
mode and off mode energy use. (42
U.S.C. 6295(gg)(3)) EPCA defines active
mode as the condition in which an
energy-using piece of equipment is
connected to a main power source, has
been activated, and provides one or
more main functions. (42 U.S.C.
6295)(gg)(1)(A)(i)) Standby mode is
defined as the condition in which an
energy-using piece of equipment is
connected to a main power source and
offers one or more of the following useroriented or protective functions:
Facilitating the activation or
deactivation of other functions
(including active mode) by remote
switch (including remote control),
internal sensor, or timer; or providing
continuous functions, including
information or status displays
(including clocks) or sensor-based
functions. (42 U.S.C. 6295)(gg)(1)(A)(iii))
Off mode is defined as the condition in
which an energy-using piece of
equipment is connected to a main
power source, and is not providing any
standby or active mode function. (42
U.S.C. 6295)(gg)(1)(A)(ii))
In the 2009 Standby Test Procedure,
DOE determined that fluorescent lamp
ballasts do not exhibit off mode energy
use. In addition, DOE stated that the
only ballasts subject to standby mode
power measurements would be those
that incorporate some electronic circuit
enabling the ballast to communicate
with and be part of a lighting control
system (e.g., a digitally addressable
lighting interface, DALI). 74 FR 54445,
54448.
Based on DOE’s characterization of
ballasts capable of operating in standby
mode in the 2009 Standby Test
Procedure, NEMA and Philips
concluded that DOE considers ballasts
capable of operating in standby mode as
digitally controlled ballasts, such as
DALI. (NEMA, No. 12 at p. 3; Philips,
No. 8 at pp. 5–6) ULT and NEMA stated
that DALI ballasts are mostly used in
conference rooms for atmospheric
lighting and are shrinking in market
size. They stated that the most common
linear fluorescent lamp ballasts are
operated as discrete devices from a
centralized control panel that sends on/
off and dimming commands and do not
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operate in standby mode. Further, ULT
and NEMA asserted that 99 percent of
the ballasts in the scope of this analysis
do not operate in standby mode. (ULT,
No. 6 at p. 2; NEMA, No. 12 at pp. 2–
3) Lutron noted that DALI is not the
only communication protocol used in
ballasts capable of standby mode power
consumption. (Lutron, Public Meeting
Transcript, No. 5 at p. 49)
ASAP stated DOE should include
digitally addressable or networkable
ballasts and consider the associated
standby losses of these products. ASAP
expected dimming ballasts with digital
control will be part of luminaire level
lighting control, which involves
independently controlling each
luminaire in a space through integrated,
programmable, network sensors. ASAP
added that in such scenarios while the
ballast may reduce active mode power
consumption, it may also continue to
consume power when switched ‘‘off’’
and not emitting light. Therefore, ASAP
recommended that DOE should consider
both standby losses and the benefits of
increased controllability in its
consideration of coverage for additional
dimming ballasts. ASAP advised DOE to
develop a better definition for ‘‘network
standby.’’ (ASAP, No. 7 at p. 2)
Additionally, CA IOUs recommended
that DOE amend its standby mode test
procedure to specify that a
communications network (if applicable)
should be connected to the ballast
during testing to capture energy use in
‘‘network standby.’’ CA IOUs stated that
this is important because ballasts will
likely be consuming additional energy
while actively ‘‘listening’’ for
commands when connected to a
communications network. (CA IOUs,
No. 10 at p. 3)
NEMA stated that it is not easy to
define a power consumption standard
for a networked product because the
standby and full mode power
consumptions will vary based on the
particular design and extent of
functionality. (NEMA, Public Meeting
Transcript, No. 5 at pp. 49–50) NEEA
agreed with NEMA but noted that DOE
would likely have to look at network
standby if it decides to regulate
dimming ballasts. (NEEA, Public
Meeting Transcript, No. 5 at p. 50)
Philips stated that DOE’s determination
of ballasts capable of operating in
standby mode prevents conflict with
other modes of operation defined in
standards such as IEC 62301, which
distinguishes between standby mode
power and network mode power.
(Philips, No. 8 at pp. 5–7) Philips also
recommended that DOE develop a
standby mode power test method that
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accounts for the wide range of input
voltages. (Philips, No. 8 at p. 8)
EPCA requires DOE to address the
standby mode consumption of a
product. (42 U.S.C. 6295(gg)(3)) Based
on DOE’s definition of standby mode,
DOE continues to consider a ballast is
in standby mode if it has some
electronic circuit enabling the ballast to
communicate with and be part of a
lighting control system and if at zero
light output the ballast is standing by,
connected to a main power source
without being disconnected by an on/off
switch or other type of relay. 74 FR
54445, 54448. Therefore, standby mode
energy consumption of a ballast
encompasses any communication by the
ballast at zero light output. DOE finds
that additional definitions to capture
communication through specific types
of protocols or systems (i.e., network)
are not necessary.
CA IOUs stated standby mode power
constitutes a significant portion of the
overall dimming ballast annual energy
use and noted that CEC proposed a
separate standard for standby mode
power consumption for dimming
ballasts. (CA IOUs, No. 10 at p. 4) CA
IOUs reported that testing done
according to DOE’s test procedure
showed dimming ballasts to have
standby mode power consumption
ranging from 0.3 to 1.9 W. (CA IOUs,
Public Meeting Transcript, No. 5 at pp.
15–16) ASAP supported CA IOUs
comments recommending testing of
standby mode energy consumption of
ballasts similar to that proposed by CEC.
(ASAP, No. 7 at p. 3)
NEMA and Philips noted that standby
power energy use in the U.S. lighting
industry varies greatly due to the wide
range of functionality provided by
digital ballasts. (NEMA, No. 12 at p. 3;
Philips, No. 8 at p. 8) NEMA cautioned
against overly restrictive limits on
standby power, as they could reduce
consumer-demanded functionality and
DOE should note that lighting may
become the point of connection for
smart products. (NEMA, Public Meeting
Transcript, No. 5 at pp. 49–50; NEMA,
No. 12 at p. 3)
DOE tentatively finds in this analysis
that a separate standard for standby
power is unnecessary. Currently FLB
standards for active mode are based on
BLE, which is a ratio of the power
provided by the ballast to the lamp
divided by the input power to the
ballast. DOE finds that for ballasts that
are capable of standby mode operation,
the measurement of input power for
BLE in active mode would include
standby mode power. Thus, DOE finds
that energy conservation standards
based on measuring the BLE of the
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ballast in active mode also capture the
energy consumption in standby mode,
where applicable. Further, DOE’s
analysis of standards for fluorescent
lamp ballasts includes consideration of
the continued availability of products
that provide consumer utility presently
provided.
3. Technology Options
In the Framework document, DOE
identified several technology options
that would be expected to improve the
efficiency of fluorescent lamp ballasts,
as measured by the DOE test procedure.
To develop a list of technology options,
DOE reviewed manufacturer catalogs,
recent trade publications and technical
journals, and consulted with technical
experts. Specifically, DOE identified
technology options identified in the
2011 FL Ballast Rule: magnetic FLB
design, electronic FLB design, varying
lamp diameter, higher grade
components, and improved circuit
design. In addition, DOE considered the
following improved components as
technology options:
• Increasing the number of steel
laminations to lower core losses,
• Using optimized-gauge copper to
increase the conductor cross section to
reduce winding losses,
• Using wire with multiple smaller
coils instead of one larger coil to
increase the number of turns of wire,
and
• Using shape-optimized winding to
reduce the proximity effect losses.
In the Framework document, DOE
requested comments on technology
options for improving the BLE of
fluorescent lamp ballasts. NEMA
pointed out that core losses in the
transformers and inductors used in
electronic ballasts can be minimized by
using low-loss ferrite materials. (NEMA,
No. 12 at p. 6) In this analysis, DOE also
considered the option of using low-loss
ferrite materials to reduce the proximity
effect.
CA IOUs recommended that DOE
analyze the technology options for
improving efficiency listed in the 2011
FL Ballast Rule, including improved
components such as magnetics, diodes,
capacitors, and transistors, as well as
improved circuit design. (CA IOUs, No.
10 at p. 5)
Philips stated that the only way to
increase efficiency would be to move to
a different technology. ULT, Philips,
and GE added that they and the industry
are focusing on solid-state lighting,
specifically LED. (ULT, Public Meeting
Transcript, No. 5 at pp. 45–46; Philips,
Public Meeting Transcript, No. 5 at p.
58; GE, Public Meeting Transcript, No.
5 at p. 67) Further, NEMA, GE, Philips,
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and ULT commented that fluorescent
lamp ballasts are already at or close to
their maximum achievable efficiency,
and that the currently regulated
products have no margin to improve
efficiency. (NEMA, Public Meeting
Transcript, No. 5 at pp. 9–11; GE, Public
Meeting Transcript, No. 5 at p. 67;
Philips, No. 8 at pp. 13–14; ULT, No. 6
at p. 5) NEMA, GE, and ULT asserted
that the last rulemaking compressed the
available levels of efficiency such that
the current market only consists of a
maximum and a minimum level, with
very little room for differentiation
among manufacturers. (NEMA, No. 12 at
p. 7; GE, Public Meeting Transcript, No.
5 at p. 67; ULT, Public Meeting
Transcript, No. 5 at pp. 45–46) Philips
and ULT added that technology options
such as transistors with reduced
resistance, lowering impedance value
on capacitors, increasing steel
laminations, reducing winding
resistance, increasing the turns of wire,
and reducing proximity effect losses are
already incorporated in current
products. (Philips, Public Meeting
Transcript, No. 5 at p. 58; ULT, No. 6
at p. 5) Lutron stated DOE should
assume that all the dimming ballasts
that are going to be available after any
rule becomes effective are already on
the market. (Lutron, Public Meeting
Transcript, No. 5 at p. 104) Philips and
GE noted that because fluorescent
technology is on the decline, there are
no new investments in fluorescent lamp
ballasts. (Philips, Public Meeting
Transcript, No. 5 at p. 58; GE, Public
Meeting Transcript, No. 5 at p. 67)
Based on DOE’s review of the product
offerings and their efficiencies in
manufacturer catalogs and DOE’s
Compliance Certification Management
System (CCMS) database, there are
ballasts on the market at multiple levels
of efficiencies. DOE finds that the
technology options identified,
individually and/or in combination, are
being utilized to improve the efficiency
of products. Therefore, DOE continues
to consider these technology options as
a means to improve the efficiency of
fluorescent lamp ballasts.
Based on their test data for dimming
ballasts, CA IOUs asserted that cathode
cutout is a major efficiency
improvement opportunity for dimming
ballasts and is currently employed by
multiple dimming ballast
manufacturers. CA IOUs compared two
3-lamp dimming ballasts, one that saved
energy by using less than the allowable
cathode power at lower currents and
cutout cathode power at higher currents,
and another that saved less energy by
employing a continuous maximum
amount of allowable cathode power.
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(CA IOUs, Public Meeting Transcript,
No. 5 at p. 57; CA IOUs, No. 10 at pp.
5–7)
NEMA commented that there are
several patents on how to employ
cathode cutout technology and urged
DOE to exercise caution not to
inadvertently favor one method over
another. (NEMA, Public Meeting
Transcript, No. 5 at pp. 58–59) CA IOUs
responded that based on conservative
assumptions for hot cathode resistance
per the maximum voltage allowance at
lower currents defined by NEMA LL 9–
2011, any ballast can use anywhere from
0 up to 5.6 W per lamp of cathode
power at lower currents. CA IOUs stated
that while not all manufacturers may
have access to every piece of
technology, this range provided enough
space for achieving significant energy
savings. CA IOUs added that based on
their analysis for CEC’s proposed
standards for dimming ballasts, all
major manufacturers had products
meeting standards, and they determined
that the necessary technology is not
being limited to one or two
manufacturers due to intellectual
property issues. (CA IOUs, Public
Meeting Transcript, No. 5 at pp. 59–61;
CA IOUs, No. 10 at pp. 5–7)
DOE agrees that cathode cutout can
improve ballast efficiency and
considered it as a technology option in
this analysis. Information obtained in
manufacturer interviews indicated that
patents may apply to certain methods of
achieving cathode cutout, but
achievement of the highest levels of
efficiency analyzed in this proposed
determination did not require use of
technologies subject to a patent.
CA IOUs stipulated that improved
components and other circuit design
approaches are also viable methods for
improving dimming ballast efficiency,
and encouraged DOE to explore the full
range of technology options available to
manufacturers. (CA IOUs, Public
Meeting Transcript, No. 5 at p. 57; CA
IOUs, No. 10 at pp. 5–7)
DOE considers the full range of
technology options identified, for both
dimming and fixed-output ballasts. DOE
notes it considers the same metric (i.e.,
BLE at full light output) for dimming
ballasts as it does for fixed-output
ballasts (see section IV.A.2 for further
details).
NEMA commented that steel
laminations comprise a very small
percentage of magnetics in an electronic
ballast and are used for line frequency
ballasts. Further, they are typically used
for dedicated line voltage such as 120 V
AC. (NEMA, No. 12 at p. 6) Philips
stated that use of amorphous steel
doesn’t provide for an effective work
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product and it will continue to use it
only for magnetic ballasts. (Philips,
Public Meeting Transcript, No. 5 at p.
64)
DOE determined that using laminated
sheets of steel to create the core of the
inductor may not minimize losses in
ballasts that operate at high frequencies.
Therefore, because the ballasts analyzed
in this proposed determination are
electronic ballasts and operate at high
frequencies, DOE did not consider
laminated sheets of amorphous steel or
increasing the number of steel
laminations to lower core losses as
technology options.
DOE agrees that the use of low-loss
ferrite materials can minimize losses in
transformers and inductors used in
ballasts. Ferrite is already widely used
in electronic ballasts. However, DOE
determined that ferrite can be optimized
to reduce losses by changing the percent
composition from three principal
oxides: Manganese oxide, zinc oxide,
and iron (III) oxide. If the ideal amounts
of each oxide are selected, the ferrite
can have lower losses.16 For example,
manganese-zinc ferrite is a common
solid core material selected for its size
efficiency and can be optimized for high
frequencies, up to 2 MHz.17 Hence, in
this analysis, DOE is including use of
low-loss ferrite materials to create the
core of the inductor in the transformer
of the ballast as a technology option to
increase ballast efficiency.
NEMA also added that the technology
option, as described by DOE, which
involves using wire with multiple
smaller coils instead of one larger coil
is poorly defined. They indicated that
this technology option should refer to
litz wire and added that most electronic
ballast manufacturers already use litz
wire where appropriate. (NEMA, No. 12
at p. 6)
The technology option of using wire
with multiple smaller coils (instead of
the technology option of using one
larger coil to increase the number of
turns of wire) describes a way to
increase the inductance of a coil and
therefore the induced voltage of the
transformer. The magnitude of the
induced voltage is based on the
magnetic field in the transformer (which
is based on the inductance), the
frequency of operation, number of turns
of the coil, and the cross sectional area
of the transformer. For the same length
of wire, a series of smaller coils will
have a larger number of turns than one
coil that has a core with a large cross
sectional area. The additional number of
turns of the wire will increase the
induced voltage, and thereby minimize
losses from the transformer. Provided
that the number of turns is increased
more than the cross sectional area is
reduced, the series of smaller coils
would have fewer losses than one large
coil. This technology option is different
from the use of litz wire. Litz wire refers
to a bundle of thin insulated wires
braided together such that the same
sides of the two wires are not interacting
with one another the entire time,
thereby minimizing the magnetic effects
between wires that negatively affect
current flow. In this analysis DOE
continues to consider both use of
multiple smaller coils and litz wire as
technology options to increase the
efficiency of the ballast.
In summary, for this analysis, DOE
considers the technology options shown
in Table IV.1. Detailed descriptions of
these technology options can be found
in chapter 3 of the NOPD TSD.
TABLE IV.1—FLUORESCENT LAMP BALLAST TECHNOLOGY OPTIONS
Technology option
Description
Electronic Ballast .............................
Improved Components:
Transformers/Inductors .............
Diodes .......................................
Capacitors .................................
Transistors ................................
Improved Circuit Design:
Cathode Cutout or Cutback ......
Integrated Circuits ....................
Starting Method ........................
Use an electronic ballast design.
Use
Use
Use
Use
Use
Use
Use
Use
litz wire to reduce winding losses.
wire with multiple smaller coils instead of one larger coil to increase the number of turns of wire.
optimized-gauge copper to increase the conductor cross section to reduce winding losses.
shape-optimized winding to reduce the proximity effect losses.
low-loss ferrite materials to create the core of the inductor.
diodes with a lower voltage drop.
capacitors with a lower effective series resistance.
transistors with low drain-to-source resistance.
Remove or reduce cathode/filament heating after lamp has started.
Substitute discrete components with an integrated circuit.
Use of instant start (IS) starting method instead of a rapid start (RS) starting method.
4. Screening Analysis
DOE uses the following four screening
criteria to determine which technology
options are suitable for further
consideration in an energy conservation
standards rulemaking:
(1) Technological feasibility.
Technologies that are not incorporated
in commercial products or in working
prototypes will not be considered
further.
(2) Practicability to manufacture,
install, and service. If it is determined
that mass production and reliable
installation and servicing of a
technology in commercial products
could not be achieved on the scale
necessary to serve the relevant market at
the time of the projected compliance
date of the standard, then that
technology will not be considered
further.
(3) Impacts on product utility or
product availability. If it is determined
that a technology would have significant
adverse impact on the utility of the
product to significant subgroups of
consumers or would result in the
unavailability of any covered product
type with performance characteristics
(including reliability), features, sizes,
capacities, and volumes that are
16 Standard Recommendations: Soft Ferrite Cores,
A User’s Guide. 2011.
17 McLyman, C. Transformer and Inductor Design
Handbook. 2011. Boca Raton, FL: CRC Press.
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substantially the same as products
generally available in the United States
at the time, it will not be considered
further.
(4) Adverse impacts on health or
safety. If it is determined that a
technology would have significant
adverse impacts on health or safety, it
will not be considered further.
10 CFR part 430, subpart C, appendix A,
4(a)(4) and 5(b)
In summary, if DOE determines that a
technology, or a combination of
technologies, fails to meet one or more
of the listed four criteria, it will be
excluded from further consideration in
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the engineering analysis. Additionally,
it is DOE policy not to include in its
analysis any proprietary technology that
is a unique pathway to achieving a
certain efficiency level.
DOE received some general comments
regarding the screening methodology
and its application to fluorescent lamp
ballasts. Philips commented that
occasionally the criterion of
manufacturing practicality has been
slanted toward being theoretically
possible rather than economically
justifiable for a ballast manufacturer and
consumer. Philips stated that DOE
should be cognizant of the costs
associated with design-in, approbation,
marketing, and implementation of that
new, revised design into luminaires and
that it might not have a positive
business case. (Philips, No. 8 at p. 15)
When determining manufacturing
practicality, DOE will only consider a
technology option practical to
manufacture if mass production and
reliable installation and servicing of the
technology can be achieved in the
appropriate scale and timeframe. DOE
finds that the technology options under
consideration are being utilized in
ballast designs for commercially
available ballasts and, therefore, meet
the criteria of practicable to
manufacture. Regarding the costs
associated with design options, DOE
considers economic impacts including
costs to the individual customers,
manufacturers, and the nation of
efficiency levels incorporating design
options under consideration in the LCC,
NIA, and MIA analyses.
DOE received several comments
regarding the impact of the technology
options under consideration on the size
of the ballast. Philips and NEMA
commented that any improvements in
efficiencies will likely cause an increase
in the ballast footprint. (Philips, No. 8
at p. 11; NEMA, No. 12 at p. 11) ULT,
Philips, and NEMA emphasized that
avoiding technology and efficiency
improvements that necessitate changes
in the physical size outside the normal
ballast case footprint would be an ideal
approach. (ULT, No. 6 at p. 9; Philips,
No. 8 at pp. 13–14; NEMA, No. 12 at p.
11) NEMA added that implementing
efficiency changes causing fluorescent
lamp ballasts to have designs outside of
standard case sizes would increase
maintenance costs. (NEMA, No. 12 at p.
11) ULT also noted that any changes in
technology that increase ballasts’
physical volume would be disruptive to
the original equipment manufacturer
(OEM) and replacement channels. (ULT,
No. 6 at p. 5) Philips stated that while
incremental design improvements
leading to additional energy savings
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with efficiency gains of 1 to 2 percent
are theoretically possible, they will
result in a negative impact on luminaire
compliance with existing, size-based
electrical requirements. (Philips, No. 8
at pp. 13–14)
When determining adverse impacts to
consumer utility and product
availability, DOE takes into account
whether a technology option will result
in lessening of utility to the consumer.
Therefore, in its analysis, DOE accounts
for scenarios in which a technology
option increases the size of the ballast
making it unusable in an application in
which it is currently used. DOE found
no evidence that the technology options
identified could not be utilized in a
manner that would maintain the size of
the ballast.
Regarding impacts of technology
options on costs, DOE does not consider
cost as a factor for screening out
technology options. DOE considers the
economic impacts and costs on
individual customers, manufacturers,
and the nation in the LCC, NIA, and
MIA analyses.
DOE also received specific comments
regarding the screening of technology
options under consideration. In the
Framework document, DOE considered
using optimized-gauge copper or
increasing the conductor cross section
to reduce winding losses, using wire
with multiple smaller coils, and using
shape-optimized winding to improve
the transformer component of the
ballast. ULT stated that industry already
considers the technology options of
using optimized-gauge copper, wire
with multiple smaller coils, and using
shape-optimized winding in the
development of their product and any
adjustments would increase the
physical volume of these products.
(ULT, No. 6 at pp. 4–5) NEMA
commented that copper losses can be
minimized by increasing the cross
section of the conductor, but increasing
the wire gauge can result in larger, more
costly magnetics. (NEMA, No. 12 at p.
6) Philips stated that optimized-gauge
copper or increasing the conductor cross
section may also increase the size of the
ballast and increase manufacturing
costs. (Philips, No. 8 at p. 14)
Implementing certain technology
options to increase ballast efficiency
may increase the size of the ballast.
However, as noted in manufacturer
comments, these technology options are
likely already being used in certain
commercially available products;
therefore, DOE believes it is possible to
utilize them while maintaining the size
of the ballast so it would not impact the
application in which it is used.
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Philips noted that the use of multiple
smaller coils is a good approach that has
been in use for a long time and is
optimized at this point; and while
manufacturers could use smaller
multiple coils, it would increase the
complexity of the process, possibly
making the coil wire easier to break.
(Philips, No. 8 at p. 14)
Because DOE has observed ballasts at
multiple efficiencies, manufacturers are
likely utilizing different levels of
technology options under consideration
including the number of small coils
used. Therefore, DOE continues to
consider the use of multiple smaller
coils as a design option.
Regarding shape-optimized wiring,
Philips stated that while this technique
can reduce proximity effect losses in
industries such as motors, it is more
complex and expensive for ballast
manufacturers. Philips added that if it
used a special process to make an
EF25 18 coil to reduce the proximity
effect losses, it will increase efficiency
by 0.1 percent. (Philips, No. 8 at p. 14)
In identifying design options, DOE
does not consider costs, which are
analyzed in separate analyses. DOE
identifies technology options that will
improve efficiency. However,
improvement in efficiency is not a
criteria used to determine which
technology options are suitable for
further consideration in an energy
conservation standards rulemaking. 10
CFR part 430, subpart C, appendix A,
4(a)(4) Therefore, DOE continues to
consider shape-optimized wiring as a
design option.
a. Screened-Out Technologies
For this analysis, DOE did not screen
out any technology options identified.
b. Remaining Technologies
After reviewing each technology, DOE
tentatively concludes that all of the
identified technologies listed in section
IV.A.3 pass all four screening criteria to
be examined further as design options
in this analysis. In summary, DOE did
not screen out the following technology
options and considers them as design
options in the engineering analysis:
(1) Electronic Ballasts
(2) Improved Components
(a) Use litz wire to reduce winding
losses.
(b) Use wire with multiple smaller
coils instead of one larger coil to
increase the number of turns of
wire.
(c) Use optimized-gauge copper or
increase the conductor cross section
18 An EF25 coil is a coil for an E-shaped ferrite
core that is 25 mm high.
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to reduce winding losses.
(d) Use shape-optimized winding to
reduce the proximity effect losses.
(e) Use diodes with lower losses.
(f) Use capacitors with a lower
effective series resistance.
(g) Use transistors with low drain-tosource resistance.
(h) Use low-loss ferrite to create the
core of the inductor.
(3) Improved Circuit Design
(a) Remove filament heating after the
lamp has started.
(b) Substitute discrete components
with an integrated circuit.
DOE determined that these
technology options are technologically
feasible because they are being used or
have previously been used in
commercially available products or
working prototypes. DOE also finds that
all of the remaining technology options
meet the other screening criteria (i.e.,
practicable to manufacture, install, and
service and do not result in adverse
impacts on consumer utility, product
availability, health, or safety). For
additional details, see chapter 4 of the
NOPD TSD.
5. Product Classes
In general, when evaluating and
establishing energy conservation
standards, DOE divides the covered
product into classes by (1) the type of
energy used, (2) the capacity of the
product, or (3) any other performancerelated feature that affects energy
efficiency and justifies different
standard levels, considering factors such
as consumer utility. (42 U.S.C. 6295(q))
DOE received some general comments
regarding product classes. ULT and
NEMA commented that current product
class definitions should not be changed.
(ULT, No. 6 at p. 4; NEMA, No. 12 at
p. 5) Giving the example of a dimming
ballast that can adjust the cathode
power for a specific lamp based on the
lamp’s filament impedance, Philips
commented that DOE should ensure that
within the dimming product class,
dimming ballasts with added features
not be eliminated because they consume
more energy than a standard dimming
ballast. (Philips, Public Meeting
Transcript, No. 5 at p. 61)
In this analysis, DOE reviewed FLB
types to identify those with a capacity
or other performance-related feature
which other FLBs do not have, and
considered whether such feature would
justify a higher or lower standard
compared to all other ballast types. In
the following sections, DOE discusses
the resulting product classes DOE
considered for analysis and responds to
comments on specific product class
setting factors.
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a. Existing Product Classes
In the Framework document, DOE
considered maintaining the product
classes for ballasts currently subject to
standards. The product classes are
currently divided based on starting
method, lumen package, sign ballasts,
and residential versus commercial
application.
Both rapid start (RS) and PS ballasts
use cathode power; however, PS ballasts
limit the voltage across the lamp to
prevent glow discharge during initial
cathode heating resulting in an increase
in lifetime during on/off cycling, and
the cathode heat can be removed or
reduced after the lamp is in full
conduction. Therefore, DOE considers
PS ballasts to offer a performancerelated feature that justifies a different
efficiency level compared to instant
start (IS) ballasts. Hence, DOE maintains
a separate product class for ballasts with
the PS starting method in this analysis.
See chapter 3 of the NOPD TSD for
further details.
To obtain a higher lumen package
(i.e., amount of light from a lamp-andballast system), certain lamps are
designed to operate with ballasts that
run the lamps at high currents. Unlike
ballasts generally, ballasts designed to
operate HO lamps are typically used in
high ceiling or outdoor applications.
Ballasts operating HO lamps operate at
higher total lamp arc powers compared
to standard output (SO) lamps. BLE
generally increases with total lamp arc
power. However, DOE found that even
though 8-foot HO ballasts have higher
lamp arc powers, they generally have
lower BLEs when compared to 8-foot
single pin (SP) slimline ballasts. This
may be because this ballast type has a
different topology, or circuit design,
than other ballast types (e.g., 4-foot MBP
and 8-foot SP slimline ballasts). Because
the lumen package provides a feature
that other ballasts do not and that
feature justifies a different efficiency
requirement compared to other ballasts,
DOE maintains a separate product class
for ballasts that operate 8-foot HO
lamps. See chapter 3 of the NOPD TSD
for further details.
Ballasts that are designed for use in
outdoor signs offer performance-related
features that other ballasts generally do
not. To operate in outdoor environments
and to be able to handle numerous lamp
combinations, sign ballasts contain
more robust components compared to
regular 8-foot HO ballasts in the
commercial sector. Thus, sign ballasts
are inherently less efficient. Therefore,
DOE maintains a separate product class
for sign ballasts that operate 8-foot HO
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lamps. See chapter 3 of the NOPD TSD
for further details.
Finally, DOE noted in the Framework
document that it planned to maintain
separate product classes for residential
and commercial ballasts. DOE received
several comments on this consideration.
ASAP encouraged DOE to consider the
rationale for a product class for
residential ballasts. (ASAP, Public
Meeting Transcript, No. 5 at pp. 50–51)
NEEA agreed asserting that commercial
ballasts work just as well in a house and
have no obvious impact on anything in
the house. (NEEA, Public Meeting
Transcript, No. 5 at pp. 51–52) ASAP
and CA IOUs recommended DOE revisit
its analysis of residential ballasts to
account for changes in the market, such
as cost of higher quality components,
trends in ballast efficiency, or other
factors that may have changed since
standards from the 2011 FL Ballast Rule
took effect. (CA IOUs, No. 10 at p. 9;
ASAP, No. 7 at pp. 4–5; ASAP, Public
Meeting Transcript, No. 5 at p. 50–51)
Philips noted that residential ballasts
are subject to more stringent FCC EMI
requirements, and some customers may
have sensitive equipment that requires
extra protection. Further, Philips stated
that even if residential customers were
satisfied with commercial ballasts,
because of the FCC requirements,
manufacturers must produce separate
ballasts that include additional EMI
filtering for the residential market.
(Philips, Public Meeting Transcript, No.
5 at p. 52) Lutron agreed with Philips
comments. (Lutron, Public Meeting
Transcript, No. 5 at p. 52) Philips added
that whereas incremental design
improvements leading to additional
energy savings with efficiency gains of
1 to 2 percent are theoretically possible,
they will result in a negative impact on
ballast compliance with FCC EMI
requirements as specified in 47 CFR part
18. (Philips, No. 8 at pp. 13–14)
CA IOUs referred to a comment made
in the 2011 FL Ballast Rule by Acuity
Brands Lighting, Inc. (Acuity) stating
that a residential ballast that achieves
the same efficiency as the most efficient
commercial products would be 50
percent more expensive. CA IOUs stated
that this indicated it is technically
feasible to improve the efficiency of
residential ballasts, though it may be
more expensive. (CA IOUs, No. 10 at p.
9) Further, ASAP and CA IOUs stated
that the increasing affordability and
confidence in LED technology will
provide consumers with more costeffective, efficient technology options
while regulations from EISA will limit
the availability of less energy-efficient
options. Therefore, the potential risk of
residential fluorescent lighting users
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‘‘backsliding’’ to less efficient lighting
technologies due to the possibly higher
cost of energy efficient residential
fluorescent lamp ballasts has been
significantly reduced. (CA IOUs, No. 10
at p. 9; ASAP, No. 7 at pp. 4–5; ASAP,
Public Meeting Transcript, No. 5 at pp.
50–51)
Further, ASAP and CA IOUs stated
that compared to commercial ballasts,
more stringent EMI filter requirements
for residential ballasts may lower
efficiency, but the less stringent power
factor requirements can increase
efficiency by not requiring more robust
power factor control devices. CA IOUs
and ASAP suggested that DOE analyze
how these two factors impact achievable
efficiency through additional testing
and/or modeling, as necessary, and
develop an adjustment factor that can be
applied to the current standard for
commercial ballasts to define an
appropriate standard level for
residential ballasts. Further, CA IOUs
and ASAP suggested that DOE not limit
itself to available commercial products
and model achievable efficiency levels
for residential ballasts based on the
same set of technology options available
to commercial ballasts. (CA IOUs, No.
10 at p. 9; ASAP, No. 7 at pp. 4–5;
ASAP, Public Meeting Transcript, No. 5
at pp. 50–51)
In the 2011 FL Ballast Rule, DOE
determined that the FCC requires
residential ballasts to have more
stringent or maximum allowable EMI
and per American National Standards
Institute (ANSI) standards 19 have a
lower minimum power factor than
commercial ballasts. Based on these
differing requirements, DOE concluded
that residential ballasts serve distinct
market sectors and applications. 76 FR
at 70564. In this analysis, DOE finds
that these requirements continue to
exist. Further, DOE’s review of ballast
efficiencies showed that residential
ballasts are unable to achieve similar
maximum efficiencies as commercial
ballasts. Therefore, because residential
ballasts serve distinct market sectors
and applications, and are unable to meet
commercial efficiency levels, DOE
continues to consider separate product
classes for residential ballasts.
DOE did not model efficiencies for
residential ballasts. Based on its review
of patents and product offerings, DOE
did not find more efficient prototypes or
commercially available products with
19 ANSI C82.77–2002 requires residential ballasts
to have a minimum power factor of 0.5 and
commercial ballasts to have a minimum power
factor of 0.9. American National Standard for
Lighting Equipment—Harmonic Emissions Limits—
Related Power Quality Requirements for Lighting
Equipment (Approved January 17, 2002).
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design requirements similar to
residential ballasts that could serve as a
basis for modeling higher efficiencies.
Further, without a physical model to
test, it would be difficult to confirm that
design changes made to improve ballast
efficiency would continue to allow the
ballast to meet FCC’s EMI filter
requirements. See chapter 5 of the
NOPD TSD for the assessment of
efficiency levels of residential ballast
product classes.
NEMA commented that as this
rulemaking proceeds and other
regulatory impacts are discussed, NEMA
and Electrofed Canada have been in
discussions with FCC and Industry
Canada regarding revisions to emissions
requirements for lighting products in
North America. They expect the
forthcoming binational negotiations to
determine the appropriate emissions
limits may take a few years. NEMA
stated it will keep DOE informed of the
progress of these negotiations as this
FLB rulemaking progresses. NEMA
cautioned that if emissions
requirements become more stringent
across the board, added functionality
and filtering could impact price and
efficiency. (NEMA, Public Meeting
Transcript, No. 5 at pp. 52–53)
DOE appreciates information on
discussions regarding emissions
requirements for lighting products and
looks forward to learning of their
progress.
b. Additional Product Classes
In the Framework document, DOE
considered product classes for dimming
fluorescent lamp ballasts based on the
following four factors: (1) Residential
versus commercial, (2) lamp type
operated by the ballast, (3) continuous
versus step dimming, and (4) dimming
communication protocol.
Lutron and NEMA commented that
proprietary control systems can save the
same or more energy than standardized
control interfaces such as DALI, and
DOE should broadly define a product
class to be ‘‘digitally-controlled
dimming ballasts, such as DALI’’ and
should only include ballasts that
operate 4-foot T5 and T8 lamps. Lutron
and NEMA added that digital dimming
ballasts have energy-saving advantages
such as the ability to react to demand
response events and report power usage
as well as to allow for independent
occupancy-sensed and daylighting
zones. They stated that these features
require off-state power consumption for
which digital ballasts should be given
an allowance. (Lutron, No. 9 at p. 2;
NEMA, No. 12 at pp. 5–6)
CA IOUs noted that CEC proposed
one single product class for all dimming
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ballasts including T5 and T8 dimming
ballasts, irrespective of number of
lamps. However, CA IOUs shared initial
test results suggesting dimming ballasts
operating 2L T5 may be able to achieve
higher efficiencies than those operating
2L T8 ballasts. CA IOUs recommended
that DOE test a full range of dimming
ballasts that operate T5 lamps to
determine whether a separate product
class is necessary to set more
appropriate standard levels for these
ballasts. (CA IOUs, No. 10 at pp. 4–5)
Unlike other ballasts, dimming
ballasts allow consumers to control the
level of light output. Further, DOE’s
research and feedback from
manufacturer interviews indicate that
due to the added circuitry, dimming
ballasts are less efficient than standard
ballasts. Therefore, for this analysis,
DOE maintains a separate product class
for dimming ballasts.
DOE recently published a request for
information (RFI) on the emerging smart
technology appliance and equipment
market. 83 FR 46886 (Sept. 17, 2018). In
that RFI, DOE sought information to
better understand market trends and
issues in the emerging market for
appliances and commercial equipment
that incorporate smart technology.
DOE’s intent in issuing the RFI was to
ensure that DOE did not inadvertently
impede such innovation in fulfilling its
statutory obligations in setting
efficiency standards for covered
products and equipment. In this NOPD,
DOE seeks comment on the same issues
presented in the RFI as they may be
applicable to fluorescent lamp ballasts.
DOE analyzed one product class for
all types of dimming FLBs regardless of
use in sector, lamp type, or
communication protocol used. DOE did
not identify any dimming ballasts
designed and marketed only for
residential use. While some
communication protocols used with
dimming ballasts provide added
features, DOE’s evaluation of dimming
ballast efficiencies indicated that these
features did not affect efficiency, and
analysis of separate product classes
based on communication protocols was
not necessary. Hence, for this analysis
DOE does not consider a separate
product class for ballasts with digital
communication protocols.
Additionally, DOE’s evaluation of the
dimming ballast market and feedback
from manufacturer interviews did not
indicate that consideration of a separate
product class (or classes) based on the
lamp type operated by a dimming
ballast was justified. DOE’s analysis
showed that with the exception of
digital ballasts, the efficiency of
dimming ballasts operating T8 lamps is
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comparable to those operating T5 lamps.
Regarding digital ballasts, product
offerings showed that digital ballasts
that operate T5 lamps are slightly more
efficient than digital ballasts that
operate T8 lamps. Manufacturer catalogs
also indicated that there are more
product offerings for digital ballasts that
operate T5 lamps than T8 lamps. DOE
identified digital ballasts that operate T8
MBP lamps as lower volume products,
and tentatively determined that the
lower efficiencies are not due to the
dimming function but instead because
these ballasts are likely not utilizing the
most advanced technologies and the
efficiencies of these ballasts can be
improved. As such, DOE tentatively
determined that a separate product class
for digital ballasts that operate T8 MBP
lamps would not be justified.
As noted in section IV.A.1.c, DOE
includes in the scope of this analysis
standards for low-current PS ballasts. In
the Framework document, DOE
considered a separate product class for
such ballasts, based on factors such as
lamp type operated by the ballast,
starting method, and ballast input
voltage. DOE’s review of efficiency data
indicates that low-current PS ballasts
have a lower efficiency than comparable
PS ballasts. These ballasts typically
have ballast factors equal to or below 0.7
allowing them to offer low light outputs.
However, DOE finds that the ability to
provide low light outputs can be
achieved by using ballasts with higher
ballast factors paired with reducedwattage lamps or by decreasing the
number of lamps in the system.
Therefore, because the ability to provide
low light output is not limited to lowcurrent PS ballasts, DOE did not
consider a separate product class for
these ballasts for the purpose of this
analysis.
c. Summary
In summary, DOE assessed the
product classes shown in the following
list in its analysis. In describing product
classes, DOE includes the types of
lamps each class of ballast operates. In
this analysis, DOE updated the list of
lamp types based on a review of the
latest product offerings on the market
and added 4-foot T5 SO and 4-foot T5
HO lamp types for the IS/RS (not
classified as residential), IS/RS
residential, and PS residential product
classes. See chapter 3 of the NOPD TSD
for further discussion.
(1) IS and RS ballasts (not classified as
residential) that operate
(a) 4-foot MBP lamps
(b) 2-foot U-shaped lamps
(c) 4-foot T5 SO lamps
(d) 4-foot T5 HO lamps
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(e) 8-foot SP slimline lamps
(2) PS ballasts (not classified as
residential) that operate
(a) 4-foot MBP lamps
(b) 2-foot U-shaped lamps
(c) 4-foot T5 SO lamps
(d) 4-foot T5 HO lamps
(3) IS and RS ballasts (not classified as
sign ballasts) that operate
(a) 8-foot HO lamps
(4) PS ballasts (not classified as sign
ballasts) that operate
(a) 8-foot HO lamps
(5) Sign ballasts that operate
(a) 8-foot HO lamps
(6) IS and RS residential ballasts that
operate
(a) 4-foot MBP lamps
(b) 2-foot U-shaped lamps
(c) 4-foot T5 SO lamps
(d) 4-foot T5 HO lamps
(e) 8-foot SP slimline lamps
(7) PS residential ballasts that operate
(a) 4-foot MBP lamps
(b) 2-foot U-shaped lamps
(c) 4-foot T5 SO lamps
(d) 4-foot T5 HO lamps
(8) Dimming ballasts that operate
(a) 4-foot MBP lamps
(b) 2-foot U-shaped lamps
(c) 4-foot T5 SO lamps
(d) 4-foot T5 HO lamps
B. Engineering Analysis
In the engineering analysis, DOE
selects representative product classes to
analyze, selects baseline ballasts within
those representative product classes,
and identifies more-efficient substitutes
for the baseline ballasts. DOE uses these
more-efficient ballasts to develop
efficiency levels.
For this proposed determination, DOE
selected more efficient substitutes in the
engineering analysis and determined the
consumer prices of those substitutes in
the product price determination. DOE
estimated the consumer price of ballasts
directly because reverse-engineering
ballasts is impractical due to the use of
potting, a black pitch added to the
ballast enclosure to reduce vibration
damage and act as a heat sink for the
circuit board. Potting does not allow for
the visual observation and identification
of individual components of the ballast
making it infeasible to apply a reverseengineering approach. By combining the
results of the engineering analysis and
the product price determination, DOE
derived typical inputs for use in the
LCC analysis and NIA. Section IV.C
discusses the product price
determination (see chapter 6 of the
NOPD TSD for further detail).
The methodology for the engineering
analysis consists of the following steps:
(1) Selecting representative product
classes, (2) selecting baseline lamps, (3)
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identifying more efficient substitutes,
(4) developing efficiency levels by
directly analyzing representative
product classes, and (5) scaling
efficiency levels to non-representative
product classes. The details of the
engineering analysis are discussed in
chapter 5 of the NOPD TSD.
1. Significant Data Sources
DOE received several comments on
data used in the engineering analysis.
To ensure DOE analyzes currently
available compliant products, Philips
advised DOE to only use ballasts in
DOE’s CCMS database to analyze the
performance of fixed output ballasts.
(Philips, No. 8 at p. 30) Regarding
dimming ballasts, low-current PS
ballasts, or 480 V ballasts, ULT and
NEMA commented that these products
have not been evaluated in terms of
efficiency or test method changes, and
such assessments are necessary to
ensure a meaningful analysis. (ULT, No.
6 at p. 5; NEMA, No. 12 at p. 7)
CA IOUs suggested DOE take into
account the analysis they had
conducted in support of developing
CEC’s proposed standards for
fluorescent lamp ballasts. CA IOUs
stated that for this analysis they tested
34 T8 dimming ballasts selected from
180 T8 dimming ballasts listed by the
CEE as qualifying commercial lighting
products and additionally tested seven
T5 dimming ballasts. CA IOUs noted
that this testing, while not
comprehensive of the full market, was a
good starting point. (CA IOUs, No. 10 at
p. 8) Further, CA IOUs added that it is
likely that their analysis of efficiencies
of low-current PS dimming ballasts will
also be useful in understanding the
cathode heating needs and determining
appropriate standard levels for fixedoutput, low-current ballasts. (CA IOUs,
No. 10 at p. 10)
For this analysis, DOE developed a
database of ballasts based on
manufacturer catalogs and DOE’s CCMS
public database.20 For ballasts currently
subject to energy conservation
standards, DOE used BLE values in the
CCMS database. For ballasts not subject
to standards, BLE values are not present
in the CCMS database, and DOE
determined BLE values using catalog
data. This method was used for lowcurrent PS ballasts and dimming
ballasts designed and marketed to
operate exclusively lamp types other
than one F34T12, two F34T12, two
20 Compliance data are publicly available on
DOE’s Compliance Certification Database available
at https://www.regulations.doe.gov/certificationdata/.
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F96T12/ES, or two F96T12HO/ES
lamps.
DOE used the test data for dimming
ballasts provided by CA IOUs to
understand the general performance of
these types of ballasts. However, for the
engineering analysis DOE relied on
catalog data as it allowed for an analysis
of all dimming products available on the
market. Further, because DOE
considered only standards based on a
BLE value at full light output, it did not
analyze BLEs at lower light outputs to
develop ELs.
Additionally, DOE paired baseline
and more-efficient ballasts with fullwattage and/or reduced-wattage lamps,
where appropriate, to reflect the most
common configurations of lamp-andballast systems. DOE reviewed the lamp
market and identified performance
characteristics common for the chosen
lamps and determined the system initial
and mean lumen outputs. The tables
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provided in the sections that follow
specify only the characteristics of the
representative unit with a full wattagelamp. The complete list of pairings of
lamps with selected representative units
is available in chapter 5 of the NOPD
TSD.
2. Representative Product Classes
In the case where a covered product
has multiple product classes, DOE
identifies and selects certain product
classes as ‘‘representative’’ and
concentrates its analytical effort on
those classes. For fluorescent lamp
ballasts, DOE chose product classes as
representative primarily because of their
high market volumes. Within certain
representative product classes, DOE also
selected multiple representative ballast
types to account for multiple high
volume units within the same product
class.
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In response to the Framework
document, Philips commented that most
dimming ballasts use a 0–10 V
communication protocol and nearly all
are in the commercial sector especially
if it includes retail space but noted that
they do not have full visibility into
application-specific dimming habits.
(Philips, No. 8 at p. 33)
In selecting representative product
classes, DOE took into account
comments from stakeholders and also
reviewed product offerings and
feedback from manufacturer interviews
regarding market shares of ballast types.
Based on its assessment, DOE analyzed
as representative 6 product classes and
13 ballast types as shown (in grey
shading) in Table IV.2. This includes
analyzing ballasts using a 0–10 V
communication protocol as
representative in the dimming product
class.
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3. Baseline Ballasts
For each representative product class,
DOE selected a baseline ballast as a
reference point against which to
measure changes resulting from energy
conservation standards. Typically the
baseline ballast is the most common,
least efficient ballast that meets existing
energy conservation standards. In this
analysis, DOE selected as baselines the
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least efficient ballast meeting standards
that operated the most common lamp
type (i.e., wattage and diameter) and
where possible, has the most common
ballast factor, input voltage, and
operating voltage type 21 for the product
class. DOE used the BLE values from the
21 Operating voltage type denotes whether the
ballast can operate multiple voltages and is
considered universal or can only operate one
voltage and is considered dedicated.
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CCMS database to identify baseline
ballasts for all product classes except
dimming. Because most dimming
ballasts are not currently subject to
standards and therefore do not have
CCMS data, DOE determined BLE
values by using catalog input power and
associated total lamp arc power based
on the catalog ballast factor of the
ballast.
In summary, DOE directly analyzed
the baseline ballasts shown in Table
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IV.3. See chapter 5 of the NOPD TSD for
more detail.
TABLE—IV.3 BASELINE BALLASTS
Product class
IS/RS Commercial ...............
PS Commercial ....................
IS/RS 8-foot HO ...................
Sign ......................................
IS/RS Residential .................
Dimming ...............................
Ballast type
2L
4L
2L
2L
4L
2L
2L
2L
4L
2L
2L
2L
2L
4-foot
4-foot
8-foot
4-foot
4-foot
4-foot
4-foot
8-foot
8-foot
4-foot
4-foot
4-foot
4-foot
Lamp type
MBP .....................
MBP .....................
SP slimline ...........
MBP .....................
MBP .....................
MiniBP SO ...........
MiniBP HO ...........
RDC HO ...............
RDC HO ...............
MBP .....................
MBP 0–10V ..........
MiniBP SO 0–10V
MiniBP HO 0–10V
32 W T8
32 W T8
59 W T8
32 W T8
32 W T8
28 W T5
54 W T5
110 W T12
110 W T12
32 W T8
32 W T8
28 W T5
54 W T5
Input voltage/
operating
voltage *
(V)
Starting
method
IS
IS
IS
PS
PS
PS
PS
RS
RS
IS
PS
PS
PS
277,
277,
277,
277,
277,
277,
277,
277,
120,
120,
277,
277,
277,
Power
factor
Universal .....................
Universal .....................
Universal .....................
Universal .....................
Universal .....................
Universal .....................
Universal .....................
Universal .....................
Dedicated ....................
Dedicated ....................
Universal .....................
Universal .....................
Universal .....................
0.97
0.98
0.98
0.90
0.90
0.98
0.98
0.99
0.90
0.50
0.98
0.98
0.98
Ballast
factor
0.89
0.88
0.88
0.88
0.87
1.00
0.99
0.89
** 0.61
0.88
0.88
1.00
1.00
Input
power
(W)
57.6
112.2
109.2
57.1
110.5
62.4
116.8
197.7
271.6
58.9
59.0
64.0
118.0
BLE
0.903
0.916
0.920
0.900
0.920
0.891
0.912
0.900
0.898
0.872
0.871
0.869
0.912
* Universal indicates that the ballast can operate multiple voltages (i.e., 120 V or 277 V); dedicated indicates it can only operate the voltage specified.
** DOE found limited information on ballast factors of ballasts in the Sign product class. Based on this information, DOE used the most common ballast factor found
in catalogs for the product class for representative units that did not specify ballast factor.
4. More-Efficient Substitutes
DOE selected more-efficient ballasts
as replacements for each of the baseline
ballasts by considering technologies not
eliminated in the screening analysis.
DOE considered these technologies in
the engineering analysis, either by
modeling potential efficiency
improvements due to the design options
or by analyzing commercially available
ballasts in which the design options are
incorporated.
As fluorescent lamp ballasts are
designed to operate fluorescent lamps,
DOE considered properties of the entire
lamp-and-ballast system in the
engineering analysis. Fluorescent lamp
ballasts are capable of operating several
different configurations and wattages of
lamps, so DOE chose the most common
fluorescent lamp used with each ballast
type for analysis. Further, DOE selected
a more-efficient fluorescent lamp ballast
with the same or similar ballast factor as
the baseline ballast, so that light output
would be maintained without needing
to change the spacing of the fixture.
Specifically, DOE ensured that potential
substitutes maintained the system light
output within 10 percent of the baseline
lamp-and-ballast system light output.
Finally, DOE selected more-efficient
substitutes that showed an improvement
in BLE and a reduction in input power.
As with the baseline ballasts, DOE used
the BLE values from the CCMS database
for all product classes except those
dimming classes which are not
currently subject to standards and
therefore do not have CCMS data. For
dimming ballasts, DOE determined BLE
values by using catalog input power and
associated total lamp arc power based
on the catalog ballast factor of the
ballast.
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ULT and NEMA commented that the
data manufacturers submit to DOE’s
CCMS database should be reproducible
and, therefore, could be used in
modeling. (ULT, No. 6 at p. 6; NEMA,
No. 12 at p. 8) Regarding modeling
potential system efficiency, NEMA and
ULT encouraged DOE to take into
account factors such as form factor,
ability to reproduce in manufacturing,
and tolerance of all incorporated parts,
and then conduct physical tests of any
models and design projections not
available in the market or dismiss them
from analysis. (NEMA, No. 12 at p. 7;
ULT, No. 6 at p. 6) ULT also asserted
that the HID rulemaking had modeled
products at efficiency levels that could
not be manufactured. (ULT, Public
Meeting Transcript, No. 5 at p. 70)
When evaluating more-efficient
substitutes, DOE can model potential
efficiency improvements based on
design options identified in the
screening analysis. As noted in section
IV.A.4, the technology options
identified as design options must be
technologically feasible; practicable to
manufacture, install, and service; have
no adverse impacts on product utility or
product availability; and have no
adverse impacts on health or safety.
For the IS/RS 2L 8-foot SP slimline
representative ballast type, DOE
modeled a representative unit at EL 3
(EL values are provided in Table IV.4).
As noted, in most cases BLE increases
with increasing total lamp arc power for
fluorescent lamp ballasts. DOE found
that 4L 4-foot MBP ballasts, which
operate similar total lamp arc powers as
2L 8-foot SP slimline ballasts, are able
to meet EL 3. Further, DOE found that
ballasts operating 2L 8-foot T12 SP
slimline lamps also meet EL 3.
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Therefore, DOE determined that design
options in commercially available
ballasts meeting EL 3 could be applied
to a ballast operating two 8-foot T8 SP
slimline lamps to achieve a higher
efficiency. DOE assumed the modeled
ballast would have characteristics
common to the product class such as
universal operating voltage, normal
ballast factor, and 0.98 power factor
(PF). Using a common ballast factor for
the product class, DOE determined the
lamp arc power and BLE for a ballast
operating two 8-foot T8 SP slimline
lamps that would meet EL 3. The
performance characteristics of the
modeled 2L 8-foot SP slimline ballast
are shown in Table IV.4.
ULT and NEMA stated that while
reduced-wattage lamp-and-ballast
systems are common and the first step
to offering higher energy savings, the
ballasts in these systems have added
features that make them less efficient.
ULT noted that ballasts designed to
operate reduced-wattage lamps require
higher open circuit voltages and flicker
control. (ULT, No. 6 at p. 7; ULT, Public
Meeting Transcript, No. 5 at pp. 82–83;
NEMA, No. 12 at p. 9)
As noted previously, DOE chose
baseline and more-efficient substitute
representative units that operate the
most common lamps, which in many
cases are full-wattage lamps. DOE’s
review of products in the market
indicates that highly efficient ballasts
operating full-wattage lamps can also
operate reduced-wattage lamps. DOE
notes sign ballasts as an exception,
which predominantly operate fullwattage 8-foot T12 recessed double
contact (RDC) HO lamps and have
limited reduced-wattage options.
Therefore, the analysis accounts for any
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potential impacts on efficiency due to
added features required for operating
reduced-wattage lamps.
ASAP recommended that reference
lamps rather than ballast manufacturer’s
specified lamps be used in DOE’s
analysis of total system energy
consumption of the lamp-and-ballast
system. (ASAP, Public Meeting
Transcript, No. 5 at pp. 71–72)
DOE paired baseline and moreefficient ballasts with full-wattage
and/or reduced-wattage lamps, where
appropriate, to reflect the most common
configurations of lamp-and-ballast
systems. DOE reviewed the lamp market
and identified performance
characteristics common for the chosen
lamps and determined the system initial
and mean lumen outputs. The complete
list of pairings of lamps with selected
representative units is available in
chapter 5 of the NOPD TSD.
where power = average total lamp arc
power and A, B, and C are constants
that vary by product class.
DOE conducted extensive testing in
the 2011 FL Ballast Rule to develop the
above equation. Based on this testing,
DOE determined the exponent C, which
relates power to ballast losses, to be 0.25
for the IS starting method and 0.37 for
the PS starting method. Further, DOE
applied an adjustment factor A to reflect
BLE values representative of testing at
the average test lab. DOE developed
coefficient B based on the tested BLE
values for each product class and
adjusted it to reflect different levels of
efficiencies based on representative
characteristics of the product class.
Based on DOE’s analysis of data in this
proposed determination, DOE
determined that the methodology used
in the 2011 FL Ballast Rule to determine
exponent C and adjustment factor A
remain valid.
DOE received some general comments
on ballast efficiency levels. ASAP stated
that the shift to solid-state lighting will
come with higher costs of drivers and
light sources, and fluorescent lamp
ballasts should not become the lowest
common denominator in terms of price
and performance. (ASAP, Public
Meeting Transcript, No. 5 at pp. 31–32)
ULT and NEMA commented that
because manufacturing was close to the
implementation date of the last
rulemaking, all products on the market
manufactured after November 2014 will
be at the minimum or slightly higher
than the minimum BLE standard.
Therefore, these products reflect both
the minimum and maximum technology
efficiency levels. (ULT, No. 6 at p. 5;
NEMA, No. 12 at p. 7) Philips agreed
that ballast technology is already close
to its maximum potential. (Philips, No.
8 at p. 15)
DOE identified several commercially
available ballasts performing at
efficiency levels higher than existing
standards. The efficiencies determined
from manufacturer catalogs and
certification data indicate several
efficiency levels higher than the existing
standard. Thus, manufacturers appear to
be utilizing more advanced technologies
than required to just meet the standard
level.
DOE based initial ELs on the moreefficient representative units selected
for each product class. For product
classes with multiple representative
ballast types, DOE established ELs after
considering the representative units of
all representative ballast types in the
product class.
To establish final minimum efficiency
requirements for each EL, DOE
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5. Efficiency Levels
After identifying more-efficient
substitutes for each of the baseline
ballasts, DOE developed ELs based on
the consideration of several factors,
including: (1) The design options
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associated with the specific ballasts
being studied, (2) the ability of ballasts
across wattages to comply with the
standard level of a given product class,
and (3) the max-tech level.
In this analysis, DOE used the same
equation-based approach used in the
2011 FL Ballast Rule. DOE determined
that a power law equation best modeled
the observed trend between total lamp
arc power and average BLE.
Specifically, DOE used the following
equation that relates the total lamp arc
power operated by a ballast to BLE to
develop ELs:
evaluated whether any adjustments
were necessary to the initial ELs to
ensure ballasts were available across a
range of lamp arc powers and ballast
factors representative of each product
class. For example, DOE found ballasts
operating certain lamp arc powers or
ballasts factors do not meet the highest
efficiency level. DOE reviewed these
products and found they are low
volume and are likely not using the
most recent advanced technologies.
Some of them operated a total lamp arc
power that was between the total lamp
arc powers operated by ballasts that did
comply with the highest standard level
analyzed. Based on this review, these
FLBs appear to not have been fully
optimized to achieve the highest
efficiency levels, and can be improved.
Based on its observations and analysis,
DOE tentatively determined that no
additional adjustments to the initial ELs
were necessary.
The ELs and characteristics of the
representative units are summarized in
Table IV.4 through Table IV.9. Grey
shading indicates the modeled unit for
the two-lamp 8-foot SP slimline
representative ballast type operating a
T8 lamp. See chapter 5 of the NOPD
TSD for more detail.
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As shown in Table IV.4 for the IS/RS
commercial representative product
class, three ELs are analyzed. The
baseline, presented in Table IV.3,
represents a basic ballast with an
efficiency near the existing standard
level. EL 1 represents an improved
ballast with more-efficient components
(e.g., transformers, diodes, capacitors,
transistors) that minimize losses and
circuit design (e.g., integrated circuitry).
EL 2 represents an advanced ballast
with improved components and
improved circuit design. EL 3 is the
maximum technologically feasible level
and represents a ballast with the most
efficient combination of improved
components and circuit design.
TABLE IV.5—PS COMMERCIAL REPRESENTATIVE UNITS
Product class
PS Commercial ...........
EL
EL 1
EL 2
Ballast type
2L
4L
2L
2L
2L
4L
2L
2L
4-foot
4-foot
4-foot
4-foot
4-foot
4-foot
4-foot
4-foot
Lamp type
MBP .............
MBP .............
MiniBP SO ...
MiniBP HO ...
MBP .............
MBP .............
MiniBP SO ...
MiniBP HO ...
32
32
28
54
32
32
28
54
W
W
W
W
W
W
W
W
T8
T8
T5
T5
T8
T8
T5
T5
Input
voltage/
operating
voltage *
(V)
Starting
method
PS
PS
PS
PS
PS
PS
PS
PS
277,
277,
277,
277,
277,
277,
277,
277,
Universal
Universal
Universal
Universal
Universal
Universal
Universal
Universal
Power
factor
.............
.............
.............
.............
.............
.............
.............
.............
0.97
0.98
0.98
0.97
0.98
0.99
0.98
0.98
Ballast
factor
0.88
0.87
1.00
1.00
0.88
0.87
1.00
1.00
Input
power
(W)
56.3
109.5
61.4
115.9
53.9
107.6
59.8
113.6
BLE
0.913
0.928
0.905
0.928
0.953
0.944
0.929
0.947
* Universal indicates that the ballast can operate multiple voltages (i.e., 120 V or 277 V).
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improved ballast with more-efficient
components (e.g., transformers, diodes,
capacitors, transistors) that minimize
losses and circuit design (e.g., integrated
circuitry). EL 2 is the maximum
technologically feasible level and
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represents a ballast with the most
efficient combination of improved
components and circuit design.
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As shown in Table IV.5 for the PS
commercial product class, two ELs are
analyzed. The baseline, presented in
Table IV.3, represents a basic ballast
with an efficiency near the existing
standard level. EL 1 represents an
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As shown in Table IV.6 for the IS 8foot HO commercial product class, two
ELs are analyzed. The baseline,
presented in Table IV.3, represents a
basic ballast with an efficiency near the
existing standard level. EL 1 represents
an improved ballast with more-efficient
components (e.g., transformers, diodes,
capacitors, transistors) that minimize
losses and circuit design (e.g., use of
cathode cutout technology, integrated
circuitry). EL 2 is the maximum
technologically feasible level and
represents a ballast with the most
efficient combination of improved
components and circuit design.
TABLE IV.7—SIGN REPRESENTATIVE UNITS
Product class
Sign .............................
EL
EL 1
EL 2
Ballast type
Starting
method
Lamp type
4L 8-foot RDC HO .......
4L 8-foot RDC HO .......
110 W T12
110 W T12
IS
IS
Input
voltage/
operating
voltage *
(V)
Power
factor
120, Dedicated ............
120, Dedicated ............
0.99
0.90
Ballast
factor **
0.61
0.61
Input
power
(W)
265.1
258.4
BLE
0.920
0.944
* Dedicated indicates it can only operate the voltage specified.
** DOE found limited information for ballast factor, and therefore used the most common ballast factor found in product class for representative units that did not
specify ballast factor.
level. EL 1 represents an improved
ballast with more-efficient components
(e.g., transformers, diodes, capacitors,
transistors) that minimize losses and
circuit design (e.g., integrated circuitry).
As shown in Table IV.7 for the sign
product class, two ELs are analyzed.
The baseline, presented in Table IV.3,
represents a basic ballast with an
efficiency near the existing standard
EL 2 is the maximum technologically
feasible level and represents a ballast
with the most efficient combination of
improved components and circuit
design.
TABLE IV.8—IS/RS RESIDENTIAL REPRESENTATIVE UNITS
Product class
IS/RS Residential ........
EL
EL 1
EL 2
EL 3
Ballast type
Starting
method
Lamp type
2L 4-foot MBP .............
2L 4-foot MBP .............
2L 4-foot MBP .............
32 W T8
32 W T8
32 W T8
IS
IS
IS
Input
voltage/
operating
voltage *
(V)
Power
factor
120, Dedicated ............
120, Dedicated ............
120, Dedicated ............
0.56
0.56
0.55
Ballast
factor
0.85
0.85
0.83
Input
power
(W)
56.2
55.2
53.1
BLE
0.884
0.899
0.913
* Dedicated indicates it can only operate the voltage specified.
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and represents a ballast with the most
efficient combination of improved
components and circuit design.
CA IOUs stated DOE has the
opportunity to capture significant
energy savings by raising standards for
residential ballasts to levels closer to
those of commercial ballasts. (CA IOUs,
No. 10 at p. 1) ASAP agreed that DOE
should reassess the market and set more
appropriate levels for residential
ballasts to capture additional energy
savings. (ASAP, No. 7 at p. 4)
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Based on DOE’s review of ballast
efficiencies discussed previously,
residential ballasts are unable to achieve
maximum efficiencies similar to
commercial ballasts. DOE identified the
more-efficient substitute representative
units for residential ballasts and
identified the efficiency levels specified
in Table IV.8. Based on the methodology
and data, DOE finds these efficiency
levels to be appropriate for the
residential ballast product class.
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As shown in Table IV.8 for the IS/RS
residential product class, three ELs are
analyzed. The baseline, presented in
Table IV.3, represents a basic ballast
with an efficiency near the existing
standard level. EL 1 represents an
improved ballast with more-efficient
components (e.g., transformers, diodes,
capacitors, transistors) that minimize
losses and circuit design (e.g., integrated
circuitry). EL 2 represents an advanced
ballast with improved components and
improved circuit design. EL 3 is the
maximum technologically feasible level
BILLING CODE 6450–01–C
As shown in Table IV.9 for the
dimming product class, three ELs are
analyzed. The baseline, presented in
Table IV.3, represents a basic ballast
with an efficiency near the existing
standard level. EL 1 represents an
improved ballast with more-efficient
components (e.g., transformers, diodes,
capacitors, transistors) that minimize
losses and circuit design (e.g., use of
cathode cutout technology, integrated
circuitry). EL 2 represents an advanced
ballast with improved components and
improved circuit design. EL 3 is the
maximum technologically feasible level
and represents a ballast with the most
efficient combination of improved
components and circuit design.
CA IOUs requested DOE review their
work in support of developing CEC’s
standards for dimming ballasts and
noted that they have provided
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numerous associated documents to the
docket of this rulemaking including
results from testing performance of
dimming ballasts from 100 percent full
light output down to the minimum
dimming level where the lamp is still
producing light. (CA IOUs, Public
Meeting Transcript, No. 5 at pp. 72–73;
CA IOUs, No. 10 at p. 2) CA IOUs stated
that while they supported DOE’s
consideration of dimming ballasts for
standards, they recommended that DOE
not adopt a less stringent standard than
the one proposed by CEC for dimming
ballasts. (CA IOUs, No. 10 at p. 2)
However, NEMA stated that DOE
should not simply implement the
standards proposed by CEC for T8 and
T5 dimming ballasts because if those
dimming ballasts were tested using
DOE’s current test method, no dimming
ballasts would be available for sale in
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56563
the United States. (NEMA, Public
Meeting Transcript, No. 5 at pp. 9–11)
Lutron asserted that the market in
California will be driving dimming
ballast sales as it is the only state that
has building code requirements for
dimming ballasts. Therefore, Lutron
questioned the need for standards
stricter than those already adopted by
California for dimming ballasts as no
one will manufacture separate products
for California and the rest of the
country. (Lutron, Public Meeting
Transcript, No. 5 at pp. 61–62)
DOE recognizes that certain products
evaluated for this NOPD may be subject
to State regulation. As noted, DOE is
conducting this evaluation of FLB
pursuant to the direction in EPCA (see
section II.A). Consistent with that
statutory direction DOE is evaluating a
potential standard for dimming ballasts
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based on BLE at full light output rather
than based on a weighted metric.
Table IV.10 summarizes the efficiency
requirements at each EL for the
representative product classes. DOE
seeks comment on the ELs under
consideration for the representative
product classes, including the max tech
levels. See section VII.C for a list of
issues on which DOE seeks comment.
TABLE IV.10—SUMMARY OF ELS FOR REPRESENTATIVE PRODUCT CLASSES
Representative
product class
BLE = A/(1+B*total lamp arc power∧¥C) where
A, B, and C are as follows:
Efficiency level
A
IS/RS Commercial ..........................................
PS Commercial ...............................................
IS/RS Residential ............................................
IS/RS 8-foot HO ..............................................
Sign .................................................................
Dimming ..........................................................
6. Scaling to Other Product Classes
DOE identified and selected certain
product classes as representative and
analyzed these product classes directly.
DOE chose these representative product
classes primarily due to their high
market volumes. The ELs for product
classes that were not directly analyzed
(‘‘non-representative product classes’’)
were then determined by scaling the ELs
of the representative product classes.
Specifically, DOE did not analyze PS 8foot HO ballasts or PS residential
ballasts directly. NEMA and ULT
recommended that DOE test all products
to be covered because scaling may not
produce the correct values. (NEMA, No.
12 at p. 8; ULT, No. 6 at p. 6)
In this analysis, DOE developed ELs
for the PS 8-foot HO product class by
EL
EL
EL
EL
EL
EL
EL
EL
EL
EL
EL
EL
EL
EL
EL
1
2
3
1
2
1
2
3
1
2
1
2
1
2
3
................................................................
................................................................
................................................................
................................................................
................................................................
................................................................
................................................................
................................................................
................................................................
................................................................
................................................................
................................................................
................................................................
................................................................
................................................................
B
0.993
........................
........................
0.993
........................
0.993
........................
........................
0.993
........................
0.993
........................
0.993
........................
........................
scaling the ELs of the IS/RS 8-foot HO
product class and the ELs for PS
residential product class by scaling the
ELs of the IS/RS residential product
class. The primary difference between
these sets of product classes is the
starting method. Hence, DOE developed
scaling factors by identifying pairs of
the same ballast type manufactured by
the same manufacturer, within the same
product family, that differed only by
starting method. The tested and certified
efficiency values submitted to the DOE
CCMS as well as manufacturer catalog
data for these ballast pairs were used to
calculate the scaling factors. From this
analysis DOE determined that the
ballasts with a PS starting method are 2
percent less efficient than those with IS
starting method. DOE then applied this
C
0.24
0.21
0.16
0.43
0.31
0.33
0.28
0.24
0.24
0.14
0.32
0.24
0.56
0.48
0.40
0.25
........................
........................
0.37
........................
0.25
........................
........................
0.25
........................
0.25
........................
0.37
........................
........................
reduction in BLE to develop the
appropriate EL equation curves for the
PS 8-foot HO and PS residential product
class. Because it is based on tested
CCMS and manufacturer-provided
catalog values, DOE has tentatively
determined that this an accurate method
for developing the ELs of the PS 8-foot
HO and PS residential product classes.
See chapter 5 of the NOPD TSD for more
details.
Table IV.11 summarizes the efficiency
requirements at each EL for the nonrepresentative product classes. DOE
seeks comment on the ELs under
consideration for the non-representative
product classes, including the max-tech
levels. See section VII.C for a list of
issues on which DOE seeks comment.
TABLE IV.11—SUMMARY OF ELS FOR NON-REPRESENTATIVE PRODUCT CLASSES
Non-representative product class
BLE = A/(1+B*total lamp arc power∧¥C) where
A, B, and C are as follows:
Efficiency level
A
PS 8-foot HO ..................................................
PS Residential ................................................
7. Proprietary Designs
In the Framework document, DOE
explained it would consider in its
engineering and economic analyses all
design options that are commercially
available or present in a working
prototype, including proprietary
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EL
EL
EL
EL
EL
1
2
1
2
3
................................................................
................................................................
................................................................
................................................................
................................................................
0.973
........................
0.973
........................
........................
designs, that meet the screening criteria
discussed in section IV.A.4. DOE will
consider a proprietary design in the
subsequent analysis only if it does not
represent a unique path to a given
efficiency level. If the proprietary design
is the only approach available to
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B
C
0.45
0.26
0.54
0.46
0.39
0.37
........................
0.37
........................
........................
achieve a given efficiency level, then
DOE will eliminate the efficiency level
from further analysis. However, if the
efficiency level can be achieved by a
number of design approaches, including
a proprietary design, DOE will continue
to examine the given efficiency level.
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NEMA and ULT commented that as
long as DOE follows the methodology
laid out in the Framework document,
they will not have an issue with the
examination of proprietary designs.
(NEMA, No. 12 at p. 8; ULT, No. 6 at
p. 6) NEMA reiterated its comments
made in CEC rulemaking proceedings
on cathode cutout that there may be
various interlinked patents regarding
cathode cutout and encouraged DOE to
exercise caution not to inadvertently
favor one patented method over another.
(NEMA, Public Meeting Transcript, No.
5 at pp. 58–59)
DOE received feedback in
manufacturer interviews that while
there are various patents related to
ballast efficiency, the efficiencies of
ballasts can be improved without
reliance on a patented technology. DOE
is not aware of any efficiency level
under consideration that can only be
achieved by a proprietary design.
C. Product Price Determination
Typically, DOE develops
manufacturer selling prices (MSPs) for
covered products and applies markups
to create end-user prices to use as inputs
to the LCC analysis and NIA. Because
fluorescent lamp ballasts are difficult to
reverse-engineer (i.e., not easily
disassembled due to potting), DOE
directly derives end-user prices for the
ballasts covered in this proposed
determination.
In the Framework document, DOE
stated that for commercial and
industrial ballast designs, fluorescent
lamp ballasts can go through two types
of distribution channels: sold within
fixtures and sold as replacement
ballasts. In the fixture distribution
channel, the manufacturer sells the
ballast to an OEM—in this case, the
fixture manufacturer—who in turn sells
the ballast in a fixture to an electrical
wholesaler (i.e., distributor). The
distributor sells it to a contractor, who
passes it on to the end-user. In the
replacement distribution channel, the
manufacturer sells the ballast to an
electrical wholesaler, who sells it to a
contractor, who passes it on to the enduser. For residential ballast designs,
DOE assumes that the manufacturer
sells the ballast to an OEM who in turn
sells it in a fixture to a home
improvement retailer, where it is
purchased by the consumer.
GE commented that the distribution
channels considered in the Framework
document analysis are similar to the
2011 FL Ballast Rule and appear to be
appropriate. (GE, Public Meeting
Transcript, No. 5 at p. 91) Philips agreed
that the value chain had been accurately
mapped out. (Philips, No. 8 at p. 34)
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In this analysis, DOE retained the
basic structure of distribution channels
described in the Framework document
with minor modifications based on
additional research and information
learned through manufacturer
interviews. DOE determined that
ballasts can be sold by electrical
wholesalers to the end-user in large
volume via a contractor; in large volume
without a contractor; and in low volume
without a contractor (e.g., homeowners).
Based on estimated shipments, DOE
assigned a weighting of 85 percent for
large volume via contractor; 10 percent
for large volume without a contractor;
and 5 percent for low volume without
a contractor. DOE accounted for all
three scenarios in developing end-user
prices for representative units identified
in the engineering analysis.
ULT and NEMA commented that the
best way to understand the cost of
products is to work with individual
manufacturers under a confidentiality
agreement. They stated that teardown
analysis or bottom-up analysis would be
difficult because of the use of potting
material in ballast design, which is still
very common. (ULT, Public Meeting
Transcript, No. 5 at p. 75; ULT, No. 6
at p. 6; NEMA, No. 12 at p. 8) Philips
commented that product teardowns
should not be used for market pricing
predictions, but only for possible
product manufacturing cost analysis
and reverse engineering because market
prices are not determined on a cost plus
basis. Further, Philips noted that while
blue book prices may be directionally
accurate, they will not account for
additional discounts and pricing
programs available in the value chain.
Philips commented that NEMA data on
market units and dollars could be useful
in making pricing assumptions and
suggested DOE work directly with
NEMA to obtain relevant data by
channel, and if that was not possible
they could provide DOE with their local
market analysis expert. (Philips, No. 8 at
pp. 30, 34)
DOE was unable to obtain blue book
prices (i.e., manufacturer suggested
prices) for ballasts and did not utilize
the teardown approach due to use of
potting in ballasts. To develop end-user
prices for fluorescent lamp ballasts,
DOE began with a consistent set of
prices by determining an average
electrical wholesaler price for each
representative unit. DOE determined
that in addition to electrical distributors
such as Grainger, internet retailers can
also serve as wholesalers of fluorescent
lamp ballasts. Therefore, DOE collected
prices from electrical distributors and
internet retailers for each representative
unit and/or ballast with similar
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56565
performance characteristics to develop
an average wholesaler price.
For the replacement channel, DOE
used this average wholesaler price to
determine the end-user prices for
ballasts going through each wholesaler
pathway: Large volume (no contractor),
large volume (with contractor), and low
volume (no contractor). DOE used the
average wholesaler price as the large
volume (no contractor) end-user price.
DOE applied a contractor markup of 13
percent to the average wholesaler price
to develop the large volume (with
contractor) end-user price. DOE
determined that ballasts sold through
the low volume pathway would be sold
by home centers. However, DOE found
limited price data for representative
units at home centers. Therefore, based
on manufacturer feedback DOE applied
an estimated 20 percent markup to the
average wholesaler price to determine
the low volume (no contractor)
consumer price. DOE then weighted the
large volume (with contractor) price by
85 percent; large volume (no contractor)
price by 10 percent; and low volume (no
contractor) price by 5 percent to develop
an average weighted end-user price for
each representative unit.
For the fixture channel, DOE applied
an OEM markup of 21 percent to the
average weighted end-user price
determined for the replacement
channel.
Based on manufacturer feedback, DOE
determined that the estimated
shipments going through the
replacement channel and fixture
channel are each 50 percent. DOE
applied this weighting to the average
end-user prices for the replacement and
OEM channels to develop the final enduser price of a representative unit. Once
DOE calculated end-user prices, DOE
added sales tax and, if appropriate,
installation costs to derive the total,
installed end-user cost. See chapter 6 of
the NOPD TSD for pricing results and
further details on the pricing
methodology.
DOE received comments on price
trends for dimming ballasts. Although
CA IOUs and CEC used slightly different
methods to understand the cost
effectiveness of dimming ballasts, CA
IOUs stated that both methods showed
cost-effective results. They encouraged
DOE to review both CEC methodology,
which was more similar to a tear down
approach, and the CA IOU
methodology, which was more of a
statistical analysis of ballast prices on
the market. (CA IOUs, Public Meeting
Transcript, No. 5 at p. 75)
CA IOUs stated that they completed a
multivariable regression analysis on
dimming fluorescent lamp ballasts
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available from online retailers to
evaluate cost effectiveness of a standard
for dimming ballasts. Through this
research, CA IOUs found no statistical
correlation between product efficiency
and price, but rather the results of the
regression model suggested that
dimming FLB price is more strongly
correlated to manufacturer, how many
lamps it can operate, and whether or not
it is digitally controllable, rather than
efficiency. CA IOUs referred to a
graphical representation of data they
had collected, which indicated that
there is no clear trend suggesting that
higher efficiency ballasts are generally
more expensive than lower efficiency
ballasts. CEC’s cost-effectiveness
evaluation focused on the cost of
implementing cathode cutout
technology to make the dimming
ballasts more efficient. Based on the
TSD from the 2011 FL Ballast Rule, CEC
assumed that the incremental cost of
cathode cutout was $0.89 for a 2-lamp
ballast, which was scaled by $0.10 per
lamp, resulting in the highest
incremental cost for a 4-lamp ballast as
$1.09. (CA IOUs, No. 10 at pp. 8–9)
In the product price determination,
DOE developed end-user prices for each
representative unit. As noted in the
engineering analysis, these
representative ballasts incorporate the
design options to achieve the EL under
consideration. Therefore, DOE’s enduser prices would include the use of the
cathode cutout design option used in a
representative unit. DOE’s evaluation of
prices for dimming ballasts indicate that
end-user price does increase with the
efficiency of dimming ballast. Further,
in interviews, manufacturers indicated
that generally all things considered
equal, prices will increase with FLB
efficiency. DOE seeks comment on the
methodology and results for estimating
end-user prices for fluorescent lamp
ballasts in this analysis. See section
VII.C for a list of issues on which DOE
seeks comment. Chapter 6 of the NOPD
TSD provides details on DOE’s
development of end-user prices for
fluorescent lamp ballasts.
D. Energy Use Analysis
The purpose of the energy use
analysis is to determine the annual
energy consumption of fluorescent lamp
ballasts at different BLE in
representative U.S. commercial and
industrial buildings, outdoor
installations, and single-family homes
and multi-family residences, and to
assess the energy savings potential of
increased BLE for fluorescent lamp
ballasts. The energy use analysis
estimates the range of energy use of
fluorescent lamp ballasts in the field
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(i.e., as they are actually used by
consumers). The energy use analysis
provides the basis for other analyses
DOE performed, particularly
assessments of the energy savings and
the savings in consumer operating costs
that could result from adoption of
amended standards.
The energy conservation standards for
fluorescent lamps are not within the
scope of this analysis; however, the
input power of the complete lamp-andballast system is considered for the
energy use analysis because ballasts are
not intended to operate without lamps.
The energy use characterization
provides estimates of annual energy use
for representative lamp-and-ballast
systems that DOE evaluates in the LCC
and PBP analyses and the NIA. To
develop annual energy use estimates,
DOE multiplied annual usage (in hours
per year) by the system input power (in
watts).
DOE selected the most common
fluorescent lamps used with each
analyzed ballast to develop
representative lamp-and-ballast systems.
DOE developed the system input power
estimates in the engineering analysis. To
characterize the country’s average use of
fluorescent lamp ballasts for a typical
year, DOE developed annual operating
hours by sector, using data from the
2015 U.S. Lighting Market
Characterization (LMC), which was
published in 2017.22
Philips stated that it was unclear how
DOE would assign each ballast type into
one or more sectors. Many types of
ballasts can be used in both commercial
and industrial applications that would
affect their usage profile. Philips
expected DOE to use an appropriate
method to assign the different ballasts
the various sectors. (Philips, No. 8 at p.
31) DOE agrees that fluorescent lamp
ballasts are used in many applications,
and a single ballast model could be used
within different sectors. In chapter 7 of
the NOPD TSD, DOE analyzed the
typical operating hours of the different
sectors. DOE then weighted the ballast
operation by sector to develop average
operating hours.
1. Reduced Wattage Fluorescent Lamps
ULT stated that the use of reduced
wattage (also known as energy saving)
lamps in the marketplace is very
common. (ULT, No. 6 at p. 7) NEMA,
SCE, and ULT stated that reduced
wattage lamps are the first step in
energy savings for a large portion of the
22 U.S. Department of Energy–Office of Energy
Efficiency and Renewable Energy. 2015 U.S.
Lighting Market Characterization. November 2017.
https://energy.gov/eere/ssl/2015-us-lighting-marketcharacterization.
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market. (NEMA, No. 12 at p. 9; SCE,
Public Meeting Transcript, No. 5 at pp.
81–82; ULT, No. 6 at p. 7) DOE agrees
and modeled a mixture of full wattage
and multiple reduced wattage options
(where they exist) for many of the
fluorescent lamps operated by the
fluorescent lamp ballasts. See chapter 5
of the NOPD TSD for more details.
2. Occupancy Sensors
NEMA and ULT stated that
occupancy sensors will be in the off
mode more than the on mode with the
exception of those installed in offices. In
general, these are installed in areas that
are not frequently occupied. Spaces can
include but are not limited to
bathrooms, stairwells, closets, hallways,
and warehouse aisles, where sensors are
off most of the time. For occupancy
sensors used in offices to turn lights off
after a preset time of inactivity, the time
in the on mode would be difficult to
generalize because it would differ
greatly from installation to installation.
(NEMA, No. 12 at p. 4; ULT, No. 6 at
p. 8) NEMA and Lutron directed DOE to
review work conducted by Lawrence
Berkeley National Laboratory (LBNL) for
additional data on occupancy sensors.23
(NEMA, No. 12 at pp. 9–10; Lutron, No.
9 at pp. 2–3) DOE reviewed the LBNL
reports and one report specifically
mentioned by Lutron states that energy
savings from occupancy controls per
zone were 27 percent. However, savings
primarily occurred at night between 6
p.m. and 1 a.m. and during early
morning and evening hours when
occupancy tended to be irregular.24
DOE stated in the Framework
document that in the 2011 FL Ballast
Rule, DOE adjusted the annual
operating hours for the ballasts in the
commercial sector that are controlled by
occupancy sensors by roughly 30
percent compared to the other ballasts.
Lutron and NEMA stated that reduced
hours are high for intelligent systems
using dimming ballasts with multiple
control types. Occupancy sensors and
time clock operation have the potential
to dramatically reduce operating hours.
For this analysis, DOE also reduced the
operating hours for MBP lamps in the
PS commercial product class by 30
23 A technical publications list is available at
Lawrence Berkeley National Laboratory. DOE relied
primarily on A Meta-Analysis of Energy Savings
from Lighting Controls in Commercial Buildings,
available at https://eta.lbl.gov/publications/metaanalysis-energy-savings-lighting.
24 Lawrence Berkeley National Laboratory.
Monitored Lighting Energy Savings from Dimmable
Lighting Controls in the New York Times
Headquarters Building. 2013. Available at https://
windows.lbl.gov/publications/monitored-lightingenergy-savings-dimmable-lighting-controls-newyork-times.
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percent to account for the use of
occupancy sensors.
NEMA and ULT stated that operating
hours can vary for the same model of a
ballast installed in different
applications. NEMA and ULT suggested
that it would be best to develop an
average usage number to apply to
ballasts and that to figure all scenarios
would be virtually impossible. (NEMA,
No. 12 at p. 9; ULT, No. 6 at p. 7) DOE
agrees and assigned a single average
usage to each of the different ballast
types. Within the LCC analysis, DOE
includes a distribution of operating
hours in the Crystal Ball TM (a
commercially available software
program) analysis used to determine the
average LCC savings as well as the
percentage of net customers
experiencing a net cost. Resultant
average values calculated from the
Crystal Ball TM distributions were used
in the NIA.
3. Dimming Ballasts
During the framework public meeting,
both GE and CA IOUs stated that
dimming ballasts will have an operating
profile different from fixed-output (nondimming) ballasts. Dimming ballasts are
typically operating in advanced
systems, and as a result, might have
fewer operating hours or be operating in
a dim mode compared to a standard
static system. GE stated that dimming
ballasts will have a lower energy use
profile, which might be difficult to
determine, but it will be less than a nondimming ballast profile of 100 percent
output, 100 percent of the time. (GE,
Public Meeting Transcript, No. 5 at pp.
78–79, 88–89; CA IOUs, Public Meeting
Transcript, No. 5 at p. 89)
To develop the energy usage profile
for dimming ballasts, DOE reviewed A
Meta-Analysis of Energy Savings from
Lighting Controls in Commercial
Buildings by LBNL.25 GE suggested this
document as a potential source on the
effects of controls on lighting systems
but cautioned that there is a broad range
of results from even the same control
type. (GE, Public Meeting Transcript,
No. 5 at pp. 86–87) Lutron also stated
during the public meeting that they
would provide references in written
comments. (Lutron, Public Meeting
Transcript, No. 5 at p. 88) Lutron and
NEMA both referenced in written
comments an LBNL study on energy
savings using controls with dimming
ballasts. (Lutron, No. 10 at p. 3; NEMA,
No. 12 at p. 10) The LBNL study
25 Lawrence Berkeley National Laboratory. A
Meta-Analysis of Energy Savings from Lighting
Controls in Commercial Buildings. Available at
https://eta.lbl.gov/publications/meta-analysisenergy-savings-lighting.
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referenced in the written comments is a
different version but includes the same
data as the LBNL meta-analysis
previously cited.26
DOE reviewed the meta-analysis and
found that Tables 3 and 4 in the LBNL
study present the average savings for
each control type by building and by
control type for peer-reviewed and nonpeer-reviewed papers, respectively.
Energy savings greater than 30 percent
were common from daylighting and
personal tuning (controls typically
utilizing dimming technology).
Lutron and NEMA stated that
dimming ballasts and associated
controls and sensors have the potential
to save energy in the form of a reduced
load and not solely in the reduction of
operating hours. (Lutron, No. 10 at p. 3;
NEMA, No. 12 at p. 10) DOE agrees and
developed a duty cycle of operation to
characterize the energy use of the
dimming ballast.
Southern California Edison (SCE)
suggested that DOE consider dimming
ballasts operating below 50 percent.
(SCE, Public Meeting Transcript, No. 5
at pp. 38–39) CA IOUs recommended
that DOE review documents generated
for and submitted to CEC’s efforts to
develop state requirements for dimming
ballasts. CA IOUs submitted these
documents to DOE as part of their
written comments. (CA IOUs, No. 10 at
p. 2) In addition, CA IOUs stated that
California’s duty cycle for fluorescent
dimming ballasts was designed to
coincide with elements in California’s
energy code, Title 24, and involves
output at 100 percent, 80 percent, and
50 percent light output. (CA IOUs,
Public Meeting Transcript, No. 5 at p.
86)
California’s analysis assumes that the
dimming ballast operates 20 percent of
the time at 100 percent light output, 50
percent of the time at 80 percent light
output, and 30 percent of the time at 50
percent light output.27 Compared to 100
percent of the time at 100 percent light
output, this California duty cycle results
in an energy savings of 26 percent. In
contrast for this preliminary analysis,
DOE analyzed a different duty cycle.
DOE analyzed a duty cycle that yielded
energy savings closer to the values
26 Williams et al. Lighting Controls in Commercial
Buildings. Leukos: The Journal of the Illuminating
Engineering Society. 2012. 8(3): pp. 161–180.
Available at https://eaei.lbl.gov/publications/
lighting-controls-commercial.
27 Table 4.3 Average Energy Use for Qualifying
Products. p. 16 CA IOUS. Dimming Fluorescent
Lamp Ballasts. Codes and Standards Enhancement
(CASE) Initiative for PR2013: Title 20 Standards
Development. (TN 78109) Updated version dated
August 5, 2013. Available at https://
efiling.energy.ca.gov/Lists/
DocketLog.aspx?docketnumber=12-AAER-02B.
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reported in the LBNL meta-analysis.
DOE used 10 percent of the time at 100
percent light output, 30 percent of the
time at 70 percent light output, and 60
percent of the time at 30 percent light
output.
Dimming ballasts have very limited
use in residential applications. Both
Lutron and NEEA reiterated the low use
of dimming ballasts in residential
applications. (Lutron, Public Meeting
Transcript, No. 5 at pp. 87–88; NEEA,
Public Meeting Transcript, No. 5 at p.
87) DOE agrees and assumed 98 percent
of dimming ballasts were in commercial
applications and 2 percent were in
residential applications.
GE and ULT stated that reduced
wattage lamps are not used with
dimming ballasts because of difficulties
with dimming these lamps and other
reasons. (GE, Public Meeting Transcript,
No. 5 at p. 80; ULT, Public Meeting
Transcript, No. 5 at pp. 81–82) Because
dimming ballasts are compatible with
reduced wattage lamps, some dimming
ballasts and reduced wattage systems
are likely in use. DOE accounts for this
low usage in its weighting of such
systems.
4. Tubular LEDs
ULT stated that although tubular
LEDs (TLEDs) are becoming prevalent,
the ballasts in the field were not
designed to operate TLEDs. NEMA and
ULT highlighted that standards bodies
require certification that the ballast and
given lamp can operate. (ULT, Public
Meeting Transcript, No. 5 at p. 83;
NEMA, Public Meeting Transcript, No.
5 at pp. 84–85) Both NEMA and ULT
cautioned that some incompatibility
between the ballast and the TLED may
occur in the field. NEMA and ULT
recommended to not include these
lamps in the analysis and if necessary
address TLEDs separate from the ballast.
(NEMA, No. 12 at p. 9; ULT, No. 6 at
p. 7) DOE agrees with ULT that TLEDs
are becoming prevalent. DOE also
reiterates that the scope of this analysis
is the fluorescent lamp ballast and only
includes TLEDs in the analysis because
the operation of these lamps by the
ballast affects the energy use, and that
in the field fluorescent lamp ballasts are
operated, to a degree, with TLEDs.
ASAP referenced research by other
DOE programs that TLEDs operating in
a luminaire designed for a fluorescent
lamp are significantly less energy
efficient than dedicated LED luminaires.
(ASAP, No. 7 at p. 5) DOE agrees that
differences exist between modified
fluorescent luminaires using a TLED
and a luminaire designed solely to
operate LEDs. DOE notes that LED
luminaires are not part of this analysis.
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ASAP recommended analyzing the
TLED market to evaluate its effect on the
overall energy savings over time.
(ASAP, No. 7 at p. 5) GE and Philips
stated that the prevalence of TLEDs is
growing rapidly. GE speculated that
TLEDs are currently a low percentage of
the overall installed base. (GE, Public
Meeting Transcript, No. 5 at p. 80;
Philips, No. 8 at p. 32) DOE includes a
change in TLED penetration over time
in this analysis. As the mixture of lamps
operated by the ballast changes to
include differing amount of TLEDs, the
energy use of the ballast changes.
Philips discussed that there is an
inverse relationship with the use of
TLEDs on fluorescent lamp ballasts. As
a general rule, the combination of
fluorescent lamp ballast and TLED
results in a lower power draw, but the
operation of a fluorescent lamp ballast
and fluorescent lamp results in a greater
ballast efficiency. (Philips, No. 8 at p.
32) Philips also stated that it
manufactures a ballast to be paired with
specific fluorescent lamps and does not
know if the ballast is being paired with
a TLED or if the wattage of the TLED is
14, 15, 17 or some other wattage value.
(Philips, Public Meeting Transcript, No.
5 at pp. 83–84) Philips stated that
TLEDs are available in the 12 to 17 W
range and offer significant energy
savings when used with compatible
fluorescent lamp ballasts. (Philips, No. 8
at p. 32) Philips stated that the power
draw for TLEDs will continue to
decrease into the future. (Philips, Public
Meeting Transcript, No. 5 at p. 82) DOE
agrees that ballast efficiency can differ
for the same ballast operating a
fluorescent lamp and a TLED. DOE used
the operating power for TLEDs in the
analysis. DOE also analyzed the larger
TLED market to determine
representative values of fluorescent
lamp ballasts operating TLEDs.
DOE seeks comment on the methods
to improve DOE’s energy-use analysis,
as well as any data supporting alternate
operating hour estimates or assumptions
regarding dimming of fluorescent lamp
ballasts. DOE seeks comment on the
type, prevalence, and operating hour
reductions related to the use of lighting
controls used separately in commercial,
industrial, and residential sectors. DOE
seeks comment on the assumptions and
methodology for estimating annual
operating hours. See section VII.C for a
list of issues on which DOE seeks
comment. Chapter 7 of the NOPD TSD
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provides details on DOE’s energy use
analysis for fluorescent lamp ballasts.
E. Life-Cycle Cost and Payback Period
Analysis
DOE conducted LCC and PBP
analyses to evaluate the economic
effects on individual consumers of
potential energy conservation standards
for fluorescent lamp ballasts. In
particular, DOE performed LCC and PBP
analyses to evaluate, in part, the savings
in operating costs throughout the
estimated average life of fluorescent
lamp ballasts at different ELs compared
to any associated increase in costs of
fluorescent lamp ballasts likely to result
from standards at each EL. The effect of
amended energy conservation standards
on individual consumers usually
involves a reduction in operating cost
and an increase in purchase cost. DOE
used the following two metrics to
measure effects on the consumer:
• The LCC (life-cycle cost) is the total
consumer expense of an appliance or
product over the life of that product,
consisting of total installed cost
(manufacturer selling price, distribution
chain markups, sales tax, and
installation costs) plus operating costs
(expenses for energy use, maintenance,
and repair). To compute the operating
costs, DOE discounts future operating
costs to the time of purchase and sums
them over the lifetime of the product.
• The PBP (payback period) is the
estimated amount of time (in years) it
takes consumers to recover the
increased purchase cost (including
installation) of a more-efficient product
through lower operating costs. DOE
calculates the PBP by dividing the
change in purchase cost at higher
efficiency levels by the change in
annual operating cost for the year that
amended standards are assumed to take
effect.
For any given efficiency level, DOE
measures the change in LCC relative to
the LCC in the no-new-standards case,
which reflects the estimated efficiency
distribution of fluorescent lamp ballasts
in the absence of new or amended
energy conservation standards.
Similarly, the PBP for a given efficiency
level is measured relative to the baseline
reflecting the efficiencies customers are
estimated to select absent an amended
standard.
For each considered efficiency level
in each product class, DOE calculated
the LCC and PBP for a nationally
representative set of potential
customers. Fluorescent lamp ballasts are
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used widely in commercial, industrial,
and residential settings. For each ballast
class, DOE identified the types of
customers likely to use the ballasts, the
number of hours per year each customer
type would likely use the ballasts, and
a probability of selection for each
customer type in the Monte Carlo
analysis.
Inputs to the calculation of total
installed cost include the cost of the
product—which includes manufacturer
production costs (MPCs), manufacturer
markups, retailer and distributor
markups, and sales taxes—and
installation costs. Inputs to the
calculation of operating expenses
include annual energy consumption,
energy prices and price projections,
repair and maintenance costs, product
lifetimes, and discount rates. DOE
created distributions of values for
product lifetime, energy prices, annual
operating hours (which determines
energy consumption), discount rates,
and sales taxes, with probabilities
attached to each value, to account for
their uncertainty and variability.
The computer model DOE uses to
calculate the LCC and PBP, which
incorporates Crystal BallTM, relies on a
Monte Carlo simulation to incorporate
uncertainty and variability into the
analysis. The Monte Carlo simulations
sample input values from the
probability distributions and FLB user
samples. The model calculated the LCC
and PBP for products at each efficiency
level for 10,000 FLB installations per
simulation run.
DOE calculated the LCC and PBP for
all consumers of fluorescent lamp
ballasts as if each were to purchase a
new product in the expected year of
required compliance with potential
amended standards. Any amended
standards would apply to fluorescent
lamp ballasts manufactured 3 years after
the date on which any amended
standard is published. (42 U.S.C.
6295(m)(4)(A)) For purposes of its
analysis, DOE used 2023 as the first year
of compliance with any amended
standards for fluorescent lamp ballasts.
Table IV.12 summarizes the approach
and data DOE used to derive inputs to
the LCC and PBP calculations. The
subsections that follow provide further
discussion. Details of the spreadsheet
model, and of all the inputs to the LCC
and PBP analyses, are contained in
chapter 8 of the NOPD TSD and its
appendices.
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TABLE IV.12—SUMMARY OF INPUTS AND METHODS FOR THE LCC AND PBP ANALYSIS *
Inputs
Source/method
Product Cost ........................
Installation Costs ..................
Annual Energy Use ..............
Energy Prices .......................
Derived by multiplying product costs from the engineering analysis by (one plus) sales tax rates.
Baseline installation cost determined with data from RSMeans. Assumed no change with efficiency level.
The total annual energy use multiplied by the hours per year. Average number of hours based 2015 LMC.
Based on the Energy Information Administration’s (EIA’s) Form 861 data for 2017.28 Average energy prices determined for 50 states plus the District of Columbia.
Based on Annual Energy Outlook 2019 (AEO2019) price projections.
Assumed no change with efficiency level.
Energy Price Trends ............
Repair and Maintenance
Costs.
Product Lifetime ...................
Discount Rates .....................
Rebound Effect ....................
Compliance Date ..................
Average: 12.5 Years for commercial installations (approximately 38,000 hours), 12.5 years for outdoor installations (approximately 41,000 hours), 11.4 years for industrial installations (50,000 hours), and 15 years for residential installations (approximately 10,800 hours).
For residential product class, the calculations involve identifying all possible debt or asset classes that might be
used to purchase the considered appliances, or might be affected indirectly. Primary data source was the Federal Reserve Board’s Survey of Consumer Finances. For other product classes, the calculations involve estimating weighted average cost of capital for large numbers of companies and using the results to develop discount rate distributions. Primary data were from the Damodaran online web site 29 and the Federal Reserve
Board.30
Rebound is not assumed to be present among FLB consumers. Most consumers are commercial and industrial
consumers, and the FLB/light user tends to not see the bills so there would be no perceived change in the cost
of using the light.
2023.
* References for the data sources mentioned in this table are provided in the sections following the table or in chapter 8 of the NOPD TSD.
1. Product Cost
As noted in section IV.C, DOE
rulemaking analyses typically calculate
consumer product costs by multiplying
MPCs developed in the engineering
analysis by the markups along with
sales taxes. For fluorescent lamp
ballasts, the engineering analysis
determined customer prices directly;
therefore, for the LCC analysis, the only
adjustment was to add sales taxes.
In prior energy conservation
standards rulemakings, DOE estimated
the total installed costs per unit for
equipment and then assumed that costs
remain constant throughout the analysis
period. This assumption is conservative
because equipment costs tend to
decrease over time. In 2011, DOE
published a notice of data availability
(NODA) titled Equipment Price
Forecasting in Energy Conservation
Standards Analysis. 76 FR 9696 (Feb.
22, 2011). In the NODA, DOE proposed
a methodology for determining whether
equipment prices have trended
downward in real terms. The
methodology examines so-called price
or experiential learning, wherein, with
ever-increasing experience with the
production of a product, manufacturers
are able to reduce their production costs
28 DOE used Average Price by State by Provider
(EIA–826), sorted for Total Electric Industry,
obtained from the EIA web page https://
www.eia.gov/electricity/data/state/.
29 See the data page on Damodaran Online, https://
pages.stern.nyu.edu/∼adamodar.
30 In addition to the previously referenced Survey
of Consumer Finances, DOE used interest rate data
obtained from the Federal Reserve Bank of St.
Louis’ FRED Economic Data tool found at https://
fred.stlouisfed.org/.
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through innovations in technology and
process.
Consistent with the February 2011
NODA, DOE examined historical price
data specific to electronic ballasts. As
discussed in Chapter 8 and Appendix
8C of the NOPD TSD, this analysis
yielded learning coefficients indicating
a 14.8 percent decrease in ballast prices
for every doubling in cumulative ballast
shipments. Although this price trend
was incorporated into the LCC model, it
was excluded from the LCC results
presented in this NOPD. With
shipments falling from historical values,
cumulative shipments do not double
relative to 2015 (the last year of
historical data) in any shipments
scenario, and shipments go to zero in
one scenario essentially at the projected
start date for amended standards. See
section IV.F.1 for further details on
shipments. Given this range of possible
shipments, for the LCC results presented
in this NOPD, the price change over
time was assumed to be zero; or, in
other words, the price trend coefficient
was set to 1.00 for all years of the LCC
(and NIA) analyses.
Lamp manufacturing is also subject to
the learning process. The focus of this
NOPD is the fluorescent lamp ballast.
However, fluorescent lamp ballasts are
designed to operate fluorescent lamps
and therefore, the cost analysis accounts
for the lamp-and-ballast system. The
analysis assumes a differing mixture of
general service fluorescent lamps
(GSFL) and TLEDs operated by the
ballasts. TLED prices are expected to be
affected by price learning and are
expected to decline significantly over
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the next 3 years. Therefore, to better
represent the total installed cost of the
ballast and lamp systems, price learning
was applied to the lamps operated by
the fluorescent lamp ballasts.
Because this proposed determination
is not analyzing lamps, lamp shipments
and price information were not
collected for this rulemaking. Rather,
price trend information for lamps was
developed from the final rule for the
general service fluorescent lamps
(GSFL) standards rulemaking published
in January 2015. 80 FR 4041 (January
26, 2015). As discussed in this FLB
NOPD TSD Appendix 8C, the GSFL
price trends were incorporated into the
LCC analysis to account for learning in
the lamp manufacturing process. The
distribution of lamps selected for use by
consumers is not expected to differ for
ballasts at different efficiency levels.
2. Installation Cost
Installation cost includes labor,
overhead, and any miscellaneous
materials and parts needed to install the
product. DOE used data from RSMeans
to estimate the baseline installation cost
for fluorescent lamp ballasts. For
installation and repair costs, both
NEMA and ULT found the ones
discussed in DOE’s Framework
document to be reasonable. (NEMA, No.
12 at p. 11; ULT, No. 6 at p. 9) Philips
also stated that it is unlikely that
installation costs would change for
ballasts at different efficiency levels.
(Philips, No. 8 at p. 35) However, ULT
cautioned that if new ballasts required
as part of a potential standard changed
in size, maintenance costs could change.
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(ULT, Public Meeting Transcript, No. 5
at p. 96; ULT, No. 6 at p. 9) DOE agrees
and uses the same installation costs for
ballasts at each efficiency level. Per the
engineering analysis, the ballasts at the
different efficiency levels are not
expected to change in size at the
different efficiency levels and therefore
would not affect installation or
maintenance costs as suggested by ULT.
DOE found no evidence that installation
costs would be affected with increased
efficiency levels.
3. Annual Energy Consumption
DOE determined the energy
consumption for fluorescent lamp
ballasts at different efficiency levels
using the approach described previously
in section IV.D of this document.
4. Energy Prices
DOE derived average annual
electricity prices for 50 states plus the
District of Columbia using data from the
EIA’s Form EIA–861 annual survey.31
EIA calculated average electric prices by
dividing total electric revenues by total
kWh energy sales, using data aggregated
by customer class and by state. The
NOPD analysis used the data for 2017,
with prices adjusted to 2018 dollars.
To estimate energy prices in future
years, DOE multiplied the average statelevel electricity prices by a projection of
annual change in regional electricity
prices in the Annual Energy Outlook
2019 (AEO2019), which has an end year
of 2050.32 The AEO includes price
projections by Census regions, which
were used for the analyses presented
herein. To estimate future electricity
prices, DOE uses the price index for the
regions corresponding to each state. To
estimate price trends after 2050, DOE
used the average annual rate of change
in prices from 2040 through 2050.
Both ASAP and ULT stated that
electricity prices can vary both between
utilities as well as a result of larger
national trends like distributed
generation or Congressional
requirements. ASAP suggested an
analysis that addressed uncertainty in
the electricity market. (ASAP, Public
Meeting Transcript, No. 5 at p. 94; ULT,
No. 6 at p. 6) DOE accounted for
considerable electricity price variability
by using data from 50 states plus the
District of Columbia. Although this
represents a higher level of aggregation
than utility-by-utility, it reflects the
31 Available at https://www.eia.gov/electricity/
data.php#sales.
32 U.S. Department of Energy—Energy
Information Administration. Annual Energy
Outlook 2019 with Projections to 2050. 2019.
Washington, DC. (AEO2019). Available at https://
www.eia.gov/outlooks/aeo/.
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considerable variability in electricity
prices in the analysis and it captures
some of the policy and other trends
alluded to by ASAP and ULT insofar as
the influx of distributed generation
typically follows state-level policies and
legislation promoting such.
5. Maintenance and Repair Costs
Repair costs are associated with
repairing or replacing product
components that have failed in an
appliance; maintenance costs are
associated with maintaining the
operation of the product. Typically,
small incremental increases in product
efficiency produce no, or only minor,
changes in repair and maintenance costs
compared to baseline efficiency
products. For this NOPD, DOE modeled
ballasts as not being repaired, and
maintenance costs as lamp replacement
costs only. Philips agreed with DOE’s
proposal during the framework public
meeting and in written comments that
ballasts are not repaired. (Philips, Public
Meeting Transcript, No. 5 at p. 95;
Philips, No. 8 at p. 35) DOE agrees and
did not include ballast repair costs in
the LCC analysis.
6. Product Lifetime
For fluorescent lamp ballasts, DOE
used lifetime estimates from
manufacturer datasheets. In the
Framework document, DOE estimated a
life of 50,000 hours for fluorescent lamp
ballasts. Both NEMA and ULT stated
that the standard warranty period
within the lighting industry for
fluorescent lamp ballasts is 3 to 5 years,
depending on application. (NEMA, No.
12 at p. 11; ULT, No. 6 at p. 9) Philips
stated they use 50,000 hours as useful
life, but in certain circumstances
thermal effects can reduce this rated life
value. Philips speculated that,
depending on the operating hours of the
ballast, this translates to 10–15 years as
a reasonable estimate for FLB life.
(Philips, No. 8 at p. 35) The number of
years can vary in operation, and DOE
used a life value in total number of
years rather than solely relying on
operating hours. For this analysis, DOE
used a 12.5-year average lifetime for the
commercial sector, 11.4-year average
lifetime for the industrial sector, and
12.5-year average lifetime for the
outdoor sector. Combining DOE’s
estimate of 50,000 hours and the average
operating hours for fluorescent lamps in
the commercial and industrial sectors
yielded average ballast lifetimes of 16.6
years and 11.4 years, respectively.
However, 16.6 years is significantly
longer than the lifetime of commercial
ballasts used in the 2011 Ballast Rule.
For that final rule, DOE used 12.5 years,
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a value DOE found consistent with the
literature at the time of the analyses,
and consistent with the comment from
Phillips. (Philips, No. 8 at p. 35) DOE
has found no literature confirming that
the product lifetime would increase by
33 percent when measured in years and
focused instead on searching for
evidence contradicting the lifetime of
12.5 years. No such evidence was
identified. Thus, for the NOPD DOE
assumed commercial ballasts would
have a 12.5-year average lifetime which,
when multiplied by the average
commercial sector operating hours per
year, yields a lifetime of approximately
38,000 hours.
Replacement of fluorescent lamps
have to be considered because it is a
cost that will be incurred by the
consumer over the course of the life of
the fluorescent lamp ballast. GE stated
that in contrast to dimming
incandescent lamps, dimming
fluorescent lamps does not extend lamp
life. In fact, in some cases if not done
properly, life can be negatively affected.
Overall, GE stated to not increase lamp
life for lamps operated on dimming
ballasts compared to non-dimming
ballasts. (GE, Public Meeting Transcript,
No. 5 at p. 95) Philips stated that
without knowing the extent of ballast
modifications to meet a potential new or
amended standard, it was difficult to
predict the effect on lamp life. (Philips,
No. 8 at p. 35) ASAP stated that the
typical operating life of a T8 fluorescent
lamp is 20,000 hours and the advertised
lifespan range of TLED is 50,000 to
80,000 hours. (ASAP, No. 7 at p. 5) DOE
does not expect the fluorescent lamp life
to extend as a result of modifications to
the ballasts. The life of the fluorescent
lamps used in the LCC analysis can be
found in the engineering analysis. DOE
used a life of 50,000 hours for the
TLEDs used in the analysis.
7. Discount Rates
In the calculation of LCC, DOE
applies discount rates appropriate to
commercial, industrial, and residential
consumers to estimate the present value
of future operating costs. DOE estimated
a distribution of discount rates for
fluorescent lamp ballasts based on
consumer financing costs and the
opportunity cost of consumer funds.
DOE applies weighted average
discount rates calculated from consumer
debt and asset data, rather than marginal
or implicit discount rates.33 DOE notes
33 The implicit discount rate is inferred from a
consumer purchase decision between two otherwise
identical goods with different first cost and
operating cost. It is the interest rate that equates the
increment of first cost to the difference in net
present value of lifetime operating cost,
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that the LCC does not analyze the
product purchase decision, so the
implicit discount rate is not relevant in
this model. The LCC estimates NPV over
the lifetime of the product, so the
appropriate discount rate will reflect the
general opportunity cost of household
or business funds, taking this time scale
into account. Given the long time frame
modeled in the LCC, the application of
a marginal interest rate associated with
an initial source of funds is inaccurate.
Regardless of the method of purchase,
consumers are expected to continue to
rebalance their debt and asset holdings
over the LCC analysis period, based on
the restrictions consumers face in their
debt payment requirements and the
relative size of the interest rates
available on debts and assets. DOE
estimates the aggregate effect of this
rebalancing using the historical
distribution of debts and assets.
To establish residential discount rates
for the LCC analysis, DOE identified all
relevant household debt or asset classes
in order to approximate a consumer’s
opportunity cost of funds related to
appliance energy cost savings. It
estimated the average percentage shares
of the various types of debt and equity
by household income group using data
from the Federal Reserve Board’s Survey
of Consumer Finances 34 (SCF) for 1995,
1998, 2001, 2004, 2007, 2010, 2013, and
2016. Using the SCF and other sources,
DOE developed a distribution of rates
for each type of debt and asset by
income group to represent the rates that
may apply in the year in which
amended standards would take effect. In
the Crystal BallTM analyses, for each of
the 10,000 simulations, the model
selects an income group and then
selects a discount rate from the
distribution for that group.
For commercial and industrial
consumers, DOE used the cost of capital
to estimate the present value of cash
flows to be derived from a typical
company project or investment. Most
companies use both debt and equity
capital to fund investments, so the cost
of capital is the weighted-average cost to
the firm of equity and debt financing.
This corporate finance approach is
referred to as the weighted-average cost
of capital. DOE used currently available
economic data in developing discount
rates. See chapter 8 of the NOPD TSD
incorporating the influence of several factors:
Transaction costs, risk premiums and response to
uncertainty, time preferences, and interest rates at
which a consumer is able to borrow or lend.
34 Board of Governors of the Federal Reserve
System. Survey of Consumer Finances. Available at
https://www.federalreserve.gov/PUBS/oss/oss2/
scfindex.html.
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for details on the development of
consumer discount rates.
8. Energy Efficiency Distribution in the
No-New-Standards Case
To accurately estimate the share of
consumers that would be affected by a
potential energy conservation standard
at a particular efficiency level, DOE’s
LCC analysis considered the projected
distribution (market shares) of product
efficiencies under the no-new-standards
case (i.e., the case without amended
energy conservation standards).
To estimate the energy efficiency
distribution of fluorescent lamp ballasts
for 2023, DOE analyzed the distribution
of ballasts in the databases used in the
engineering analysis. For the nondimming ballasts, the main source of
information is the CCMS database. For
non-dimming ballasts, DOE relied on
product offerings in manufacturer
catalogs. See chapter 8 of the NOPD
TSD for the estimated efficiency
distributions.
9. Payback Period Analysis
The PBP is the amount of time it takes
the consumer to recover the additional
installed cost of more-efficient products,
compared to baseline products, through
energy cost savings. PBPs are expressed
in years. PBPs that exceed the life of the
product mean that the increased total
installed cost is not recovered in
reduced operating expenses.
The inputs to the PBP calculation for
each efficiency level are the change in
total installed cost of the product and
the change in the first-year annual
operating expenditures relative to the
baseline. The PBP calculation uses the
same inputs as the LCC analysis, except
that discount rates are not needed.
EPCA, as amended, establishes a
rebuttable presumption that a standard
is economically justified if the Secretary
finds that the additional cost to the
consumer of purchasing a product
complying with an energy conservation
standard level will be less than three
times the value of the first year’s energy
savings resulting from the standard, as
calculated under the applicable test
procedure. (42 U.S.C. 6295(o)(2)(B)(iii))
For each considered efficiency level,
DOE determined the value of the first
year’s energy savings by calculating the
energy savings in accordance with the
applicable DOE test procedure, and
multiplying those savings by the average
energy price projection for the year in
which compliance with the amended
standards would be required.
F. Shipments Analysis
DOE uses projections of annual
product shipments to calculate the
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national impacts of potential amended
energy conservation standards on
energy use, NPV, and future
manufacturer cash flows.35 The
shipments model takes an accounting
approach in tracking market shares of
each product class and the vintage of
units in the stock. Stock accounting uses
product shipments as inputs to estimate
the age distribution of in-service
product stocks for all years. The age
distribution of in-service product stocks
is a key input to calculations of both the
NES and NPV, because operating costs
for any year depend on the age
distribution of the stock. DOE received
many comments on the shipments and
trends related to fluorescent lamp
ballasts. Overall, the market is
declining; however, DOE received
comments on the different rates of
decline.
Philips stated that DOE should be
working with NEMA in order to obtain
market shipment data and, if needed,
Philips can work with NEMA to supply
the data. Philips also stated that they
would provide data to DOE during the
interview process. (Philips, No. 8 at pp.
12–13) DOE did receive data from
NEMA in written comments that
provided indexed values of shipments
for a recent set of years. (NEMA, No. 12,
at p. 4) DOE also used aggregated data
gathered from manufacturers to calibrate
the current volume of shipments.
Philips suggested resources for
projecting lighting shipments, not just
FLB shipments, from Strategies
Unlimited, other DOE publications, and
NEMA. (Philips, No. 8 at p. 39) DOE
reviewed the materials suggested by
Philips as well as other data sources to
generate shipment projections.
NEMA, Philips, and ULT provided in
written comments a graph of fluorescent
lamp ballasts indexed to 2010 and
shipments through 2014 as a percentage
of the index year. This figure indicates
a declining market for fluorescent lamp
ballasts. (NEMA, No. 12 at pp. 4;
Philips, No. 8 at p. 39; ULT, No. 6 at pp.
3–4) NEMA attributes the decline to
solid-state lighting and expects the
decline to continue into the future.
(NEMA, No. 12 at p. 11) NEMA and
ULT speculated that based on the data
in the figure and certain fit functions
that circa 2018 that FLB shipments
would end. (NEMA, Public Meeting
Transcript, No. 5 at pp. 9–11; ULT, No.
6 at pp. 3–4) However, NEMA did
speculate that although an analysis of
the data provided suggests an end of the
35 DOE uses data on manufacturer shipments as
a proxy for national sales, as aggregate data on sales
are lacking. In general, one would expect a close
correspondence between shipments and sales.
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FLB market in 2018, it is probably not
realistic. (NEMA, Public Meeting
Transcript, No. 5 at pp. 9–11) DOE
agrees that the market for fluorescent
lamp ballasts is declining. DOE modeled
a rapid decline in shipment scenario #1
based on these data provided. NEMA
suggested that the ballast shipments
curtailing in 2018 was based on 2010 to
2014 shipment data and a second degree
polynomial fit standard S-curve shape
function. (NEMA, Public Meeting
Transcript, No. 5 at p. 9) Shipment
scenario #1 was modeled as a similar Scurve shaped function with shipments
curtailing shortly after the start of the
analysis period.
Philips stated that the submitted
figure indicates the FLB market is
declining at a fast rate. Philips
speculated that the market was
declining at a rate of about 20 percent
per year. According to Philips, LED
technologies are competing with
fluorescent light sources to illuminate
the same spaces and LED prices are
decreasing whereas fluorescent
technologies are mature. This is one of
the reasons for declining FLB
shipments. (Philips, No. 8 at pp. 16, 39)
Philips also commented that it has
reduced the number of its factories
manufacturing fluorescent lamp ballasts
from five to one. (Philips, Public
Meeting Transcript, No. 5 at p. 55)
Lutron stated that FLB shipments are
declining at an accelerating rate and
potential new amended standards can
only affect shipments. (Lutron, Public
Meeting Transcript, No. 5 at p. 41) DOE
agrees that the market for fluorescent
lamp ballasts is declining. DOE modeled
a rate of decline similar to the 20percent rate suggested by Philips in
shipment scenario #2 based on the data
provided.
NEEA mentioned that 10 percent of
lamps sales are T12 lamps. Although
T12 lamps are less efficient, as legacy
products they can have a significant life
and sizeable volume of shipments.
NEEA also stated that ballasts have a
longer life than fluorescent lamps.
(NEEA, Public Meeting Transcript, No.
5 at pp. 40–41) GE acknowledged that
although certain ballasts have long lives
and there might be legacy products still
in operation, the lighting industry is
currently at the trailing end of those
systems. (GE, Public Meeting Transcript,
No.5 at p. 55)
ULT stated during the framework
public meeting that the retrofit market is
very small and little retrofitting is
occurring in the market. (ULT, Public
Meeting Transcript, No. 5 at pp. 105–
106)
ULT stated that LED lighting
penetration is increasing in the new
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construction market, and ULT expected
90 to 95 percent penetration near 2017.
Beyond new construction, rebates for
fluorescent lamp ballasts and FLB
retrofit kits are virtually nonexistent as
utilities and other energy efficiency
programs are incentivizing LED
technologies. (ULT, Public Meeting
Transcript, No. 5 at pp. 104–106)
NEMA and ULT stated that there is no
indication of growth in the FLB market
and every segment is declining. Both
NEMA and ULT suggested that new
construction is moving to SSL and by
the effective date of a potential standard
all new construction will utilize SSL.
Rebates for fluorescent systems have
declined and in some markets
disappeared. Both NEMA and ULT
expected these trends to continue
through the analysis period of the
potential rule. (NEMA, No. 12 at p. 11;
ULT, No. 6 at p. 9) DOE agrees and has
modeled all shipment scenarios as
declining markets.
CA IOUs stated that it is generally
accepted that the LED market is growing
quickly as LED performance improves
and prices come down, and that as a
result, LEDs are generally expected to
expand into most applications in the
coming years. (CA IOUs, No. 10 at p. 11)
DOE agrees and has modeled all
shipment scenarios as declining
markets.
ASAP stated that the widespread
installation of UL Type A TLEDs could
create an extended ‘‘hybrid’’ phase
where an LED light source is driven by
a ballast designed for a fluorescent light
source. (ASAP, No. 7 at p. 5) DOE agrees
that this could be a possibility.
Shipment scenarios #3 and #4 differ in
rates of decline partially to address this
aspect of the use of UL Type A TLEDs,
which are designed to operate on
existing fluorescent lamp ballasts.
1. Shipment Scenarios Modeled
DOE agrees with the commenters that
FLB shipments are declining. DOE
modeled four different no-newstandards shipment scenarios. These
scenarios include the following:
(1) Scenario #1—declining shipments
that all terminate in 2024. This scenario
is based on the data supplied by NEMA
and others depicting the decline
between 2010 and 2014. The scenario
also assumes that all new construction
migrates to other light sources than
fluorescent technology.
(2) Scenario #2—declining shipments
that all terminate in 2040. This scenario
is based on comments from
manufacturers during the interview
process and written comments of a
reduction in shipments of 10 to 20
percent per year. This scenario assumes
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that most new construction is utilizing
other light sources besides fluorescent
technology.
(3) Scenario #3—declining shipments
that approach zero near the end of the
analysis period. This scenario is based
on data of shipments of other lighting
technologies publicly available. The rate
of decline is less compared to the
previous scenarios partially also to
address comments received about UL
Type A TLEDs operating on fluorescent
lamp ballasts.
(4) Scenario #4—declining shipments
that terminate near the end of the
analysis period. This scenario is based
on a slower decline rate in the initial
part of the analysis period.
DOE presents in this proposed
determination the results of analysis for
each of the shipment scenarios, but
shipment scenario #3 is the Reference
Case. This scenario is consistent with
other estimates of fluorescent
technology in the analysis period.
Beyond the no-new-standards case,
DOE also received comments about
potential standards-induced changes to
shipments and thus the effects on NIA.
CA IOUs stated that DOE should
account for additional energy savings
resulting from an accelerated shift to
LED lighting induced by more stringent
standards for fluorescent lamp ballasts.
(CA IOUs, No. 10 at p. 11) Philips also
commented that it would be worthwhile
to consider the effect of a new ballast
energy efficiency rule if ballast declines
continued at a faster rate. (Philips, No.
8 at p. 39) Philips speculated that if the
incremental ballast price from ballast
modifications necessary for compliance
to a potential new and amended
standard does not pay back within 2
years using the incremental energy
savings, customers will choose
something else and in reality it will lead
to greater LED adoption. (Philips, No. 8
at pp. 36–37)
Lutron stated that FLB shipments are
declining at an accelerating rate and
potential new amended standards can
only affect shipments. (Lutron, Public
Meeting Transcript, No. 5 at p. 41) CA
IOUs stated that first costs can still be
a barrier to LED adoption and if
potential new energy efficiency
standards for fluorescent lamp ballasts
increase the costs for the ballasts, the
result will likely accelerate the shift
towards more efficient LEDs. (CA IOUs,
No. 10 at p. 11) NEEA stated during the
framework public meeting that
shipment rates of different technologies
will depend on the price relationship of
the different technologies. (NEEA,
Public Meeting Transcript, No. 5 at pp.
99–101)
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DOE agrees that there is a possibility
that standards could induce consumers
to opt for different technologies other
than fluorescent lamp ballasts. Utilizing
the shipments model, DOE modeled
within the NIA model a potential
standards-induced shift to SSL.
2. Dimming Ballasts
NEMA and manufacturers stated that
the dimming ballast market was small,
not growing, and possibly that dimming
ballasts would not be shipped by the
start of the analysis period. In contrast,
ASAP, SCE, and CA IOUs speculated
growth in the dimming ballast market.
(CA IOUs, Public Meeting Transcript,
No. 5 at pp. 24, 106)
NEMA stated that dimmable linear
fluorescent lamp ballasts are roughly 2
percent of the overall FLB market.
NEMA speculated that this small
portion did not represent significant
energy savings potential. Dimming
ballast shipments have been declining
for the last 5 years, according to NEMA
and Lutron. (Lutron, No. 9 at p. 2;
NEMA, No. 12 at pp. 3–4, 11) NEMA
believes that dimming ballast shipments
will continue to decline into the future
like all other linear FLB shipments.
Finally, Lutron and NEMA speculated
that standards on dimming ballasts may
reduce shipments of ballasts. (Lutron,
No. 9 at p. 2; NEMA, No. 12 at pp. 3–
4, 11)
GE stated that other than in
California, that most retrofits of FLB
systems do not include dimming
ballasts. GE discussed during the
framework public meeting that
California was considering modifying
the requirements of dimming ballasts in
retrofit applications in Title 24 because
of claims of negative effects on the
retrofit market. (GE, Public Meeting
Transcript, No. 5 at pp. 25–26)
Lutron commented during the public
meeting that the requirements in
California’s Title 24 had changed and
the adoption of dimming ballasts in
retrofit applications is unknown at this
time. (Lutron, Public Meeting
Transcript, No. 5 at pp. 27–28) During
the public meeting, Lutron stated that
they believe it is prudent for DOE to
assume that all dimming ballasts that
are going to be available after the rule
becomes effective are already in the
market. (Lutron, Public Meeting
Transcript, No. 5 at p. 104) In contrast,
during the framework public meeting,
CA IOUs stated that they expected the
absolute number or the percentage of
dimming FLB shipments to increase.
(CA IOUs, Public Meeting Transcript,
No. 5 at p. 106)
ULT commented that although
California’s Title 24 required the
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installation of dimming ballasts, sites
were installing TLEDs to not trigger the
energy code. ULT stated that as a result,
there would be probably fewer dimming
systems than compared to previous
analysis. (ULT, Public Meeting
Transcript, No. 5 at pp. 29–31)
ASAP stated that the revised
California Title 24 would dramatically
alter the market for fluorescent lamp
ballasts within California, resulting in
greater sales of ballasts capable of
dimming below 50 percent full light
output. ASAP expected the change in
California to affect other states and that
dimming ballasts will be in greater
demand. (ASAP, No. 7 at p. 2)
Utility rebates for most fluorescent
lamp ballasts have disappeared, but SCE
did state that some rebates still exist for
dimming ballasts as they related to
demand response. (SCE, Public Meeting
Transcript, No. 5 at pp. 109–110)
CA IOUs stated during the framework
public meeting that the dimming ballast
requirements within California’s Title
24 is having a major effect on the
dimming ballast market within
California. The 2016 version of Title 24
essentially requires new construction to
use linear fluorescent and that the
ballast be a dimming ballast. Title 24
installation of dimming ballast
requirements also apply to retrofit
applications. (CA IOUs, Public Meeting
Transcript, No. 5 at pp. 23–24) NEEA
also added during the framework public
meeting that the four states in the
Pacific Northwest might have dimming
ballast requirements similar to Title 24
by the time any potential rule goes into
effect. (NEEA, Public Meeting
Transcript, No. 5 at p. 24) NEMA stated
that they would review its data to see if
it could determine any effects on
dimming ballast shipments as a result of
the Title 24 requirements. (NEMA,
Public Meeting Transcript, No. 5 at p.
25)
As stated earlier, DOE agrees with
commenters that the overall FLB market
is declining. Although dimming ballasts
may be a smaller portion of the entire
FLB market, DOE does not have enough
information to indicate a significantly
different rate of decline for dimming
ballasts compared to the larger FLB
market. DOE modeled the same rate of
decline for dimming ballasts as other
similar non-dimming fluorescent lamp
ballasts operating the same type and
quantity of lamps in each of the four
different scenarios.
GE speculated that if a potential new
standard resulted in a very expensive
fluorescent dimming ballast, it would
accelerate new construction use of LEDs
if they wanted a system that dims. (GE,
Public Meeting Transcript, No. 5 at p.
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101) Lutron speculated that setting
efficiency standards too aggressively
will only hasten the decline of dimming
ballasts. (Lutron, No. 9 at p. 3) DOE
agrees that potential standards could
induce a shift from dimming fluorescent
lamp ballasts to solid-state lighting. As
part of the NIA analysis, DOE included
a secondary analysis of a standardsinduced shift from dimming ballasts to
SSL.
3. Tubular LEDs
During the framework public meeting,
SCE stated that many lighting customers
are focused on inexpensive solutions
and often consider retrofitting options
rather than replacing the entire system.
Specifically, replacing fluorescent
lamps with TLEDs is an option that
many customers consider. (SCE, Public
Meeting Transcript, No. 5 at p. 39) CA
IOUs agreed with other commenters that
LED products are increasing across
many applications, but fluorescent
lighting is still prevalent across many
sectors. Many manufacturers offer UL
Type A TLEDs that are designed to
operate on existing fluorescent lamp
ballasts and thus the potential need for
fluorescent lamp ballasts to exist. (CA
IOUs, No. 10 at pp. 1–2)
DOE agrees that TLEDs are currently
desired as a low-cost initial energy
option and that the use of TLEDs is
growing. DOE included in the NIA
analysis a greater penetration of UL
Type A TLEDs through the course of the
analysis period.
GE views the retrofitting of
fluorescent luminaires with TLEDs as a
short-term solution while the larger new
installation market moves to dedicated
LED systems. In 10 or 15 years, more
dedicated LED systems will be installed
and fewer TLEDs will be retrofitting
fluorescent luminaires. (GE, Public
Meeting Transcript, No. 5 at p. 39)
ASAP also speculates that if TLEDs
have lifetimes equal or longer than the
lifetimes of the fluorescent lamp ballasts
that operate them, the TLEDs could
disrupt the normal fluorescent
maintenance and replacement cycle.
Currently ballast failure in a fluorescent
luminaire can present a cost-effective
opportunity for luminaire replacement
with a LED luminaire. However, if the
fluorescent lamps have been replaced
with TLEDs and the ballast fails at a
later point, this might no longer present
a cost-effective opportunity to convert
the fixture to a dedicated LED
luminaire. ASAP cautioned that this
might increase the volume of UL Type
A TLEDs that operate on a fluorescent
lamp ballast. (ASAP, No. 7 at p. 5)
ASAP stated that the widespread
installation of TLEDs could create an
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extended ‘‘hybrid’’ phase where a LED
light source is driven by a ballast
designed for a fluorescent light source.
(ASAP, No. 7 at p. 5) Philips stated that
retrofit jobs using TLEDs to replace
linear fluorescent lamps is a big trend,
noting that the prevalence of TLEDs
operating on fluorescent lamp ballasts is
growing rapidly. (Philips, No. 8 at pp.
12, 38)
DOE agrees that the use of UL Type
A TLEDs can achieve early energy
savings that might prolong the
conversion of the lighting system to
other technologies. DOE also agrees that
this might encourage sites using UL
Type A TLEDs to replace a failed
fluorescent lamp ballast with another
fluorescent lamp ballast to continue the
life of the lighting system. Shipment
scenarios #3 and #4 incorporate the
prolonged shipments of fluorescent
lamp ballasts to service systems
modified to use UL Type A TLEDs.
Lutron did not believe that there was
a scenario where a consumer would
purchase a TLED and a fluorescent lamp
ballast in a new system. (Lutron, Public
Meeting Transcript, No. 5 at p. 84) DOE
disagrees with Lutron. DOE’s research
indicates at least a few UL Type A TLED
manufacturers provide warranties for
UL Type A TLEDs that are directly
related to the installation of a new
ballast. However, DOE stipulates that
this is rare combination and that the
major benefit of UL Type A TLEDs is
that this type TLED can operate on the
existing fluorescent lamp ballasts, thus
reducing initial costs of installation.
DOE seeks comment whether the
shipment scenarios under various
policy scenarios are reasonable and
likely to occur. DOE seeks comment and
information on whether dimming
ballasts should have a different rate of
decline than the similar non-dimming
fluorescent lamp ballasts. DOE seeks
comments on which shipment scenario
most accurately characterizes future
dimming FLB shipments. DOE seeks
comments on which of the four
scenarios best characterize future
shipments of fluorescent lamp ballasts.
See section VII.C for a list of issues on
which DOE seeks comment. Chapter 9
of the NOPD TSD provides details on
DOE’s shipments analysis for
fluorescent lamp ballasts.
G. National Impact Analysis
The NIA assesses the NES and the
NPV from a national perspective of total
consumer costs and savings that would
be expected to result from amended
standards at specific efficiency levels.36
(‘‘Consumer’’ in this context refers to
consumers of the product being
regulated.) DOE calculates the NES and
NPV for the potential standard levels
considered based on projections of
annual product shipments, along with
the annual energy consumption and
total installed cost data from the energy
use and LCC analyses. For the present
analysis, DOE projected the energy
savings, operating cost savings, product
costs, and NPV of consumer benefits
over the lifetime of fluorescent lamp
ballasts sold from 2023 through 2052.
DOE evaluates the effects of amended
standards by comparing a case without
such standards with standards-case
projections. The no-new-standards case
characterizes energy use and consumer
costs for each product class in the
absence of amended energy
conservation standards. For this
projection, DOE considers historical
trends in efficiency and various forces
that are likely to affect the mix of
efficiencies over time. DOE compares
the no-new-standards case with
projections characterizing the market for
each product class if DOE adopted
amended standards at specific energy
efficiency levels (i.e., the ELs or
standards cases) for that class. For the
standards cases, DOE considers how a
given standard would likely affect the
market shares of products with
efficiencies greater than the standard.
DOE uses a spreadsheet model to
calculate the energy savings and the
national consumer costs and savings
from each EL. Interested parties can
review DOE’s analyses by changing
various input quantities within the
spreadsheet. The NIA spreadsheet
model uses typical values (as opposed
to probability distributions) as inputs.
Table IV.13 summarizes the inputs
and methods DOE used for the NIA
analysis for the NOPD. Discussion of
these inputs and methods follows the
table. See chapter 10 of the NOPD TSD
for details.
TABLE IV.13—SUMMARY OF INPUTS AND METHODS FOR THE NATIONAL IMPACT ANALYSIS
Inputs
Method
Shipments ...........................................................
Modeled Compliance Date of Standard .............
Efficiency Trends ................................................
Annual Energy Consumption per Unit ................
Total Installed Cost per Unit ...............................
Annual shipments from shipments model.
2023.
No-new-standards case. Standards cases.
Annual weighted-average values are a function of energy use at each EL.
Annual weighted-average values are a function of cost at each EL. Incorporates projection of
future product prices based on historical data.
Annual weighted-average values as a function of the annual energy consumption per unit and
energy prices.
Annual values do not change with efficiency level.
AEO2019 projections (to 2050) and extrapolation through 2061.
A time-series conversion factor based on AEO2019 and/or the NEMS model.
3 percent and 7 percent.
2018.
Annual Energy Cost per Unit ..............................
Repair and Maintenance Cost per Unit ..............
Energy Prices .....................................................
Energy Site-to-Source and FFC Conversion ......
Discount Rate .....................................................
Present Year .......................................................
ULT stated that the NIA should rely
on input from manufacturers. (ULT, No.
6, at p. 10) Input from manufacturers as
well as others was captured via the
comment process, and DOE considered
the comments in the development of the
inputs that affect the NIA. Interviews
were conducted with manufacturers as
part of the preliminary analysis process,
and DOE incorporated aggregated
feedback during these interviews into
the inputs that feed the NIA.
During the framework public meeting,
CA IOUs requested that DOE provide
interim values for statewide energy
savings and unit savings within the
model. (CA IOUs, Public Meeting
Transcript, No. 5 at pp. 111–112) NEMA
also requested modifications to the
typical NIA models during the
framework public meeting. NEMA
36 The NIA accounts for impacts in the 50 states
and Washington, D.C.
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stated that for other rules, the NIA
model is locked and certain inputs
cannot be modified or model elements
are not readily understandable in the
TSD. (NEMA, Public Meeting
Transcript, No. 5 at pp. 116–118) DOE
acknowledges these requests. The LCC
provides unit-level savings. DOE also
provides detail as to how the model
works and how it can be modified in
chapter 10 and appendix 10A of the
NOPD TSD.
1. Product Efficiency Trends
A key component of the NIA is the
trend in energy efficiency projected for
the no-new-standards case and each of
the standards cases. Section IV.E.8 of
this document describes how DOE
developed an energy efficiency
distribution for the no-new-standards
case (which yields a shipment-weighted
average efficiency) for each of the
considered product classes for the year
of anticipated compliance with an
amended standard.
For the standards cases, DOE used a
‘‘roll-up’’ scenario to establish the
shipment-weighted efficiency for the
year that standards are assumed to
become effective (2023). In this
scenario, the market shares of products
in the no-new-standards case that do not
meet the standard under consideration
would ‘‘roll up’’ to meet the amended
standard level, and the market share of
products above the standard would
remain unchanged.
ASAP recommended analyzing the
TLED market to evaluate its effect on the
overall energy savings over time.
(ASAP, No. 7 at p. 5) DOE includes a
change in UL Type A TLED penetration
over time in this analysis. As the
mixture of lamps operated by the ballast
changes to include differing amount of
UL Type A TLEDs, the NES is affected.
CA IOUs suggested accounting for
energy savings from standards-induced
shifts away from fluorescent lamp
ballasts. CA IOUs raised a concern if the
analysis only examined fluorescent
lamp ballasts and not the energy savings
of potential shifts to other lighting
technologies. (CA IOUs, Public Meeting
Transcript, No. 5 at pp. 103–104; CA
IOUs, No. 10 at p. 11) Lutron stated that
FLB shipments are declining at an
accelerating rate and potential new
amended standards can only affect
shipments. (Lutron, Public Meeting
Transcript, No. 5 at p. 41) Also during
the framework public meeting, NEEA
discussed the possibility of setting a
potential standard for dimming ballasts
that would eliminate some of the
dimming ballasts. NEEA suggested that
consumers would switch to LED
options. NEEA suggested that there
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should be a scenario that examines
consumers switching to LED systems.
(NEEA, Public Meeting Transcript, No.
5 at p. 102)
DOE has included within the NIA
model a standards-induced shift
scenario in which if EL 1 is selected 25
percent of the consumers would migrate
to a new LED technology. If EL 2 is
selected 50 percent of the consumers
would migrate to a new LED technology,
and if EL 3 is selected 75 percent of the
consumers would migrate to a new LED
technology. Within the NIA model, the
percentage of customers migrating away
is not fixed and can be changed by the
user.
Philips speculated that if the
incremental ballast price from ballast
modifications necessary for compliance
to a potential new, amended standard
does not pay back within 2 years using
the incremental energy savings,
customers will choose something else,
and in reality it will lead to additional
LED adoption. (Philips, No. 8 at pp. 36–
37) CA IOUs stated that first costs can
still be a barrier to LED adoption, and
if potential new energy efficiency
standards for fluorescent lamp ballasts
increase the costs for the ballasts, the
result will likely accelerate the shift
towards more efficient LEDs. (CA IOUs,
No. 10 at p. 11)
Within DOEs standard-induced shift
away from a FLB scenario, DOE
modeled the shift to occur at different
increments at each EL and not at a
specific PBP or specific increase in FLB
price. The PBPs vary for all of the
product classes and ballasts. The
potential cost differential between the
baseline ballast and a more efficient EL
ballast vary across the products classes
as well.
NEEA stated that although LED
replacements of traditional lighting are
more expensive than traditional lighting
systems, the prices will reduce over
time. (NEEA, Public Meeting Transcript,
No. 5 at p. 99) However, NEEA also
stated that the price of FLB systems is
known, whereas the price of LED
systems in the future is a much bigger
variable. (NEEA, Public Meeting
Transcript, No. 5 at pp. 101–102)
Philips concurred that although LED
prices were initially higher, they have
reduced and they will be lower cost in
the future. (Philips, Public Meeting
Transcript, No. 5 at pp. 102–103)
DOE agrees that the potential LED
options may have a greater initial cost
than a potential compliant fluorescent
lamp ballast. Within the standardsinduced shift away from the FLB
scenario, DOE assumed an equal
mixture of TLEDs (UL Type B and C),
LED retrofit kits, and new LED
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luminaires. DOE researched public
pricing for each of these devices and
developed and aggregate price for the
potential LED option. DOE also
developed an aggregate device efficacy
for the potential option. Using DOE
forecasts for future efficacy
improvements circa 2023, DOE modeled
the efficacy for the LED option in 2023.
Using the engineering analysis and
system light output, DOE reverseengineered the input power and price
for the LED option. For more
information on the methodology refer to
the Appendix 10D of chapter 10 of the
NOPD TSD.
DOE seeks comment on the
percentage of customers to model in a
standards-induced shift that would
migrate away from FLB technology.
DOE seeks comments on the specific
incremental cost in fluorescent lamp
ballasts that could trigger a standardsinduced shift away from fluorescent
lamp ballasts. DOE seeks comment on
the approach for input power and price
for LED devices considered in a
standards-induced shift. See section
VII.C for a list of issues on which DOE
seeks comment.
DOE seeks comment on any potential
impediments that would prevent users
of fluorescent lamp ballasts from
switching to LED lighting to garner
additional energy savings. DOE seeks
comment on the expected effect of
potential standards on the rate at which
FLB consumers transition to non-FLB
technology. See section VII.C for a list
of issues on which DOE seeks comment.
Chapter 10 of the NOPD TSD provides
details on DOE’s NIA for fluorescent
lamp ballasts.
2. National Energy Savings
The NES analysis involves a
comparison of national energy
consumption of the considered products
between each potential standards case
(EL) and the case with no new or
amended energy conservation
standards. DOE calculated the national
energy consumption by multiplying the
number of units (stock) of each product
(by vintage or age) by the unit energy
consumption (also by vintage). DOE
calculated annual NES based on the
difference in national energy
consumption for the no-new-standards
case and for each higher efficiency
standard case. DOE estimated energy
consumption and savings based on site
energy and converted the electricity
consumption and savings to source
energy (i.e., the energy consumed by
power plants to generate site electricity)
using annual conversion factors derived
from AEO2019. Cumulative energy
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savings are the sum of the NES for each
year over the timeframe of the analysis.
In 2011, in response to the
recommendations of a committee on
‘‘Point-of-Use and Full-Fuel-Cycle
Measurement Approaches to Energy
Efficiency Standards’’ appointed by the
National Academy of Sciences, DOE
announced its intention to use FFC
measures of energy use and greenhouse
gas and other emissions in the NIA and
emissions analyses included in future
energy conservation standards
rulemakings. 76 FR 51281 (Aug. 18,
2011). After evaluating the approaches
discussed in the August 18, 2011 notice,
DOE published a statement of amended
policy in which DOE explained its
determination that EIA’s National
Energy Modeling System (NEMS) is the
most appropriate tool for its FFC
analysis and its intention to use NEMS
for that purpose. 77 FR 49701 (Aug. 17,
2012). NEMS is a public domain, multisector, partial equilibrium model of the
U.S. energy sector 37 that EIA uses to
prepare its AEO. The FFC factors
incorporate losses in production, and
delivery in the case of natural gas,
(including fugitive emissions) and
additional energy used to produce and
deliver the various fuels used by power
plants. The approach used for deriving
FFC measures of energy use and
emissions is described in appendix 10B
of the NOPD TSD.
ULT stated that the NIA model needs
to include a declining market for
fluorescent lamp ballasts. (ULT, No. 6 at
p. 10) DOE agrees with ULT and has
included declining shipment scenarios
within the shipment analysis (chapter
10 of the NOPD TSD). The shipments
analysis serves as part of the basis of the
NIA model, and thus the NIA model
includes a declining shipments scenario
for fluorescent lamp ballasts.
NEMA and ULT stated that the NIA
model should include the energy
reduction from the natural shift to solidstate lighting. (NEMA, No. 12 at p. 12;
ULT, No. 6 at p. 10) As stated
previously, the preliminary analysis
shipment model includes a declining
market scenario that includes a shift to
solid-state lighting. This decline of
fluorescent lamps ballasts in transition
to SSL is in the absence of standards (a
natural shift). This decline occurs in the
no-new-standards case. The NIA model
characterizes the energy usage of the
fluorescent lamp ballast and compares
the energy usage in both a no-newstandards and a standards scenario.
37 For more information on NEMS, refer to The
National Energy Modeling System: An Overview
2009, DOE/EIA–0581(2009), October 2009.
Available at https://www.eia.gov/analysis/
pdfpages/0581(2009)index.php.
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However, DOE has included within the
NIA model a scenario in which
potential standards accelerate the shift
away from fluorescent lamp ballasts to
SSL (standards-induced shift).
Both NEMA and ULT suggested that
the NIA model should focus on the
effects of potential standards on
drawing resources from lighting
manufacturers from other technologies
(i.e., SSL) to comply with potential
standards. (NEMA, No. 12 at p. 12; ULT,
No. 6 at p. 10) DOE has not analyzed the
potential effects of standards on
resources and investments of
manufacturers as part of the NIA. The
MIA assesses the investments
manufacturers must make to comply
with potential standards (see section
IV.H).
During the framework public meeting,
Lutron inquired whether DOE could
take credit for energy savings resulting
from dimming ballast standards across
the country. California’s Title 20 already
contains a dimming standard, and
therefore Lutron suggested that DOE
should only include energy saving
projections from the rest of the country
and not in California. (Lutron, Public
Meeting Transcript, No. 5 at pp. 27–28)
The NIA model uses inputs from the
shipments analysis factors in
distributions of different values of
efficiency of ballasts. Therefore, the
ballasts that comply with California’s
Title 20 are incorporated into the
shipments model and thus the NIA
model. If a potential standard shifts
ballasts to the California Title 20 values,
any related savings (or lack of savings
because of already compliant ballasts)
would be captured by the NIA model.
3. Net Present Value Analysis
The inputs for determining the NPV
of the total costs and benefits
experienced by consumers are (1) total
annual installed cost, (2) total annual
operating costs (energy costs and repair
and maintenance costs), and (3) a
discount factor to calculate the present
value of costs and savings. DOE
calculates net savings each year as the
difference between the no-newstandards case and each standards case
in terms of total savings in operating
costs versus total increases in installed
costs. DOE calculates operating cost
savings over the lifetime of each product
shipped during the projection period.
DOE developed FLB price trends
based on historical pricing information
for electronic ballasts. DOE applied the
same trends to project prices for each
product class at each considered
efficiency level. By 2052, which is the
end date of the projection period, the
average FLB price is projected to drop
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8.2 percent relative to 2016. DOE’s
projection of product prices is described
in appendix 8C of the NOPD TSD.
The operating cost savings are energy
cost savings, which are calculated using
the estimated energy savings in each
year and the projected price of the
appropriate form of energy. To estimate
energy prices in future years, DOE
multiplied the average regional energy
prices by the projection of annual
national-average residential energy price
changes in the Reference Case from
AEO2019, which has an end year of
2050.
In calculating the NPV, DOE
multiplies the net savings in future
years by a discount factor to determine
their present value. For this NOPD, DOE
estimated the NPV of consumer benefits
using both a 3-percent and a 7-percent
real discount rate. DOE uses these
discount rates in accordance with
guidance provided by the Office of
Management and Budget (OMB) to
Federal agencies on the development of
regulatory analysis.38 The discount rates
for the determination of NPV are in
contrast to the discount rates used in the
LCC analysis, which are designed to
reflect a consumer’s perspective. The 7percent real value is an estimate of the
average before-tax rate of return to
private capital in the U.S. economy. The
3-percent real value represents the
‘‘social rate of time preference,’’ which
is the rate at which society discounts
future consumption flows to their
present value.
H. Manufacturer Impact Analysis
DOE performed an MIA to estimate
the financial impacts of potential
amended energy conservation standards
on manufacturers of fluorescent lamp
ballasts. DOE relied on GRIM, an
industry cash flow model with inputs
specific to this rulemaking. The key
GRIM inputs include data on the
industry cost structure, unit production
costs, product shipments, manufacturer
markups, and investments in research
and development (R&D) and
manufacturing capital required to
produce compliant products. The key
GRIM outputs are the industry net
present value (INPV), which is the sum
of industry annual cash flows over the
analysis period, discounted using the
industry-weighted average cost of
capital, and the impact to domestic
manufacturing employment. The GRIM
calculates cash flows using standard
accounting principles and compares
38 United States Office of Management and
Budget. Circular A–4: Regulatory Analysis.
September 17, 2003. Section E. Available at https://
obamawhitehouse.archives.gov/omb/memoranda_
m03-21/.
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changes in INPV between the no-newstandards case and each standards case.
The difference in INPV between the nonew-standards case and a standards case
represents the financial impact of the
amended energy conservation standard
on manufacturers. To capture the
uncertainty relating to manufacturer
pricing strategies following amended
standards, the GRIM estimates a range of
possible impacts under different
markup scenarios.
DOE created initial estimates for the
industry financial inputs used in the
GRIM (e.g., tax rate; working capital
rate; net property plant and equipment
expenses; selling, general, and
administrative (SG&A) expenses; R&D
expenses; depreciation expenses; capital
expenditures; and industry discount
rate) based on publicly available
sources, such as company filings of form
10–K from the SEC or corporate annual
reports.39 DOE then further calibrated
these initial estimates during
manufacturer interviews to arrive at the
final estimates used in the GRIM.
The GRIM uses several factors to
determine a series of annual cash flows
starting with the announcement of
potential standards and extending over
a 30-year period following the
compliance date of potential standards.
These factors include annual expected
revenues, costs of sales, SG&A and R&D
expenses, taxes, and capital
expenditures. In general, energy
conservation standards can affect
manufacturer cash flow in three distinct
ways: (1) Creating a need for increased
investment, (2) raising production costs
per unit, and (3) altering revenue due to
higher per-unit prices and changes in
sales volumes.
The GRIM spreadsheet uses inputs to
arrive at a series of annual cash flows,
beginning in 2019 (the reference year of
the analysis) and continuing to 2052.
DOE calculated INPVs by summing the
stream of annual discounted cash flows
during this period. DOE used a real
discount rate of 9.6 percent for FLB
manufacturers. This initial discount rate
estimate was derived using the capital
asset pricing model in conjunction with
publicly available information (e.g., 10year treasury rates of return and
company specific betas). DOE then
confirmed this initial estimate during
manufacturer interviews. Additional
details about the GRIM, the discount
rate, and other financial parameters can
be found in chapter 11 of the NOPD
TSD.
39 10-Ks are collected from the SEC’s EDGAR
database: https://www.sec.gov/edgar.shtml or from
annual financial reports collected from individual
company websites.
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1. Manufacturer Production Costs
Manufacturing more efficient
fluorescent lamp ballasts is typically
more expensive because of the use of
more complex components, which are
typically more costly than baseline
components. The changes in the MPCs
of covered products can affect the
revenues, gross margins, and cash flow
of the industry. Typically, DOE
develops MPCs for the covered products
using reverse-engineering. These costs
are used as an input to the LCC analysis
and NIA. However, because ballasts are
difficult to reverse-engineer, DOE
directly derived end-user prices in the
engineering analysis and then used the
end-user prices in conjunction with
markups to calculate the MPCs of
fluorescent lamp ballasts. See section
IV.C for a further explanation of product
price determination.
To determine MPCs of fluorescent
lamp ballasts from the wholesale prices
calculated in the engineering analysis,
DOE divided the wholesale prices by
the wholesaler markup to calculate the
MSP. DOE then divided the MSP by the
manufacturer markup to get the MPCs.
DOE determined the wholesaler markup
to be 1.23 and the manufacturer markup
to be 1.40 for all fluorescent lamp
ballasts. Markups are further described
in section IV.H.4.
2. Shipments Projections
The GRIM estimates manufacturer
revenues based on total unit shipment
projections and the distribution of those
shipments by EL. Changes in sales
volumes and efficiency mix over time
can significantly affect manufacturer
finances. For this analysis, the GRIM
uses the NIA’s annual shipment
projections from shipments scenario #3
(reference case, see section IV.F.1)
starting in 2019 (the reference year) and
ending in 2052 (the end year of the
analysis period). See chapter 9 of the
NOPD TSD for additional details.
3. Product and Capital Conversion Costs
Potential amended energy
conservation standards could cause
manufacturers to incur conversion costs
to bring their production facilities and
equipment designs into compliance.
DOE evaluated the level of conversionrelated expenditures that would be
needed to comply with each considered
EL in each product class. For the MIA,
DOE classified these conversion costs
into two major groups: (1) Product
conversion costs; and (2) capital
conversion costs. Product conversion
costs are investments in research,
development, testing, marketing, and
other non-capitalized costs necessary to
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make product designs comply with
amended energy conservation
standards. Capital conversion costs are
investments in property, plant, and
equipment necessary to adapt or change
existing production facilities such that
new compliant product designs can be
fabricated and assembled.
To evaluate the level of capital
conversion costs manufacturers would
likely incur to comply with the
analyzed energy conservation standards
DOE used data submitted during
manufacturer interviews and data from
the 2011 FL Ballast Rule to estimate
costs to update manufacturer
production lines by product class. DOE
then estimated the number of
production lines currently in existence
and the number of production lines that
would be required to be updated at each
analyzed EL using DOE’s public
Compliance Certification Database. DOE
then multiplied these numbers together
(i.e., capital conversion costs per
production line and number of
production lines that would need to be
updated) to get the final estimated
capital conversion costs for each
product class at each analyzed EL.
To evaluate the level of product
conversion costs manufacturers would
likely incur to comply with the
analyzed energy conservation standards,
DOE used data submitted during
manufacturer interviews and data from
the 2011 FL Ballast Rule to estimate per
model R&D and testing and certification
costs for each product class and EL.
DOE then estimated the number of
models that would need to be
redesigned for each product class at
each analyzed EL. DOE then multiplied
these numbers together to get the final
estimated product conversion costs for
each product class at each analyzed EL.
In general, DOE assumes all
conversion-related investments occur
between the year of publication of the
final rule and the year by which
manufacturers must comply with the
potential amended standards. The
conversion cost figures used in the
GRIM can be found in Table V.7 and
section V.C of this document. For
additional information on the estimated
capital and product conversion costs,
see chapter 11 of the NOPD TSD.
4. Markup Scenarios
To calculate the MPCs used in the
GRIM, DOE divided the wholesaler
prices calculated in the engineering
analysis by the wholesaler markup and
the manufacturer markup. The
wholesaler markup was calculated in
the 2011 FL Ballast Rule by reviewing
SEC 10–K reports of electrical
wholesalers. DOE also coordinated with
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the National Association of Electrical
Distributors by contacting two
representative electrical wholesalers,
who confirmed that DOE’s calculated
markups were consistent with their
actual ballast markups. DOE continued
to use a wholesaler markup of 1.23 in
this analysis.
The manufacturer markup accounts
for the non-production costs (i.e., SG&A,
R&D, and interest) along with profit.
Modifying the manufacturer markup in
the standards case yields different sets
of impacts on manufacturers. For the
MIA, DOE modeled two standards-case
markup scenarios to represent
uncertainty regarding the potential
impacts on prices and profitability for
manufacturers following the
implementation of analyzed energy
conservation standards: (1) A
preservation of gross margin percentage
markup scenario; and (2) a preservation
of operating profit markup scenario.
These scenarios lead to different
manufacturer markup values that, when
applied to the MPCs, result in varying
revenue and cash flow impacts.
Under the preservation of gross
margin percentage scenario, DOE
applied a single uniform ‘‘gross margin
percentage’’ markup across all ELs,
which assumes that manufacturers
would be able to maintain the same
amount of profit as a percentage of
revenues at all ELs within a product
class. To calculate the preservation of
gross margin markup, DOE took the
manufacturer markup used in the 2011
FL Ballast Rule and compared it to the
manufacturer markups calculated by
examining the SEC 10-Ks of all publicly
traded FLB manufacturers and
confirmed this with manufacturers
during interviews. DOE determined that
the manufacturer markup used in the
2011 FL Ballast Rule was consistent
with the current SEC 10-Ks of the
publicly traded FLB manufacturers and
most manufacturers agreed during
manufacturer interviews. Therefore,
DOE used 1.40 as the manufacturer
markup in the preservation of gross
margin markup scenario. DOE assumes
that this markup scenario represents an
upper bound to industry profitability
under analyzed energy conservation
standards.
Under the preservation of operating
profit markup scenario, DOE modeled a
situation in which manufacturers are
not able to increase operating profit in
proportion to increases in manufacturer
production costs. Under this scenario,
as the cost of production increases,
manufacturers are generally required to
reduce the manufacturer markups to
maintain cost competitive offerings in
the market. Therefore, gross margin (as
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a percentage) shrinks in the standards
cases in this markup scenario. This
markup scenario represents an upper
bound of industry impacts (lower
profitability) under amended energy
conservation standards.
A comparison of industry financial
impacts under the two manufacturer
markup scenarios is presented in
section V.C.1 of this document.
5. Manufacturer Interviews
DOE interviewed manufacturers of
fluorescent lamp ballasts and asked
them to describe their major concerns
regarding a potential rulemaking to
amend the standards for FLBs.
Manufacturer interviews are conducted
under non-disclosure agreements
(NDAs), so DOE does not document
these discussions in the same way that
it does public comments and DOE’s
responses throughout the rest of this
document. Manufacturers identified two
major areas of concern regarding
potential FLB standards: (1) Shift to SSL
(i.e., LEDs) and (2) limited investment in
fluorescent lamp ballasts.
a. Shift to Solid-State Lighting
Manufacturers stated that the market
is moving from fluorescent lighting to
LED lighting. As a result, shipments for
fluorescent lamp ballasts are declining.
This trend is expected to continue in the
future absent amended energy
conservation standards. Some
manufacturers expected sales in 2020
could decline by more than half
compared to 2016. Given this marketdriven move in the no-new-standards
case from fluorescent lighting to LED
lighting, manufacturers commented that
an amended energy conservation would
accelerate this transition. Specifically,
manufacturers stated that consumers of
fluorescent lamp ballasts are very price
sensitive and any increase in consumer
price as a result of potential amended
energy conservation standards would
significantly reduce FLB shipments.
DOE is aware that consumers of
fluorescent lamp ballasts are shifting to
purchase all-LED systems. DOE
accounts for this in the Reference Case
by adjusting shipments of fluorescent
lamp ballasts downward during the
analysis period. Amended energy
conservation standards could accelerate
the transition to LED lighting, and DOE
accounts for this potential accelerated
decline by analyzing an alternate
shipment scenario in which there is a
standards-induced shift to SSL. (See
section IV.F for further information.)
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b. Limited Investment in Fluorescent
Lamp Ballasts
Manufacturers commented that
fluorescent lamp ballasts are a mature
technology and increases in efficiency
can only be achieved at high expense to
the industry. Under potential amended
energy conservation standards,
manufacturers stated that they might
discontinue non-compliant products
instead of redesigning them, because
investments in fluorescent lamp ballasts
would not be cost-effective. Therefore,
any amended energy conservation
standards could result in reduced
product offerings. This would impact
consumers in the replacement markets,
particularly in those instances in which
there is a preference to replace ballasts
with exactly the same one. The LCC
analysis takes into account such effects
on consumers; see section IV.E for
further details.
6. Discussion of MIA Comments
DOE received several comments
related to assessing the manufacturer
impacts of potential amended standards
for fluorescent lamp ballasts. NEMA,
Lutron, and ULT commented that
manufacturers are unlikely to develop
or redesign new fluorescent lamp
ballasts if energy conservation standards
result in the elimination of products
from the market. They added that
setting efficiency limits will only hasten
the existing decline of this product
category. (NEMA, No. 12 at p. 11;
Lutron, No. 9 at p. 3; ULT, No. 6 at p.
10) Similarly, Philips commented that
even though a new ballast could be
designed and produced, DOE needs to
be very cognizant of the costs associated
with design, approbation, marketing,
and implementation of that new, revised
design into luminaires and there might
not be a positive business case. (Philips,
No. 8 at p. 15)
The MIA takes conversion costs and
the shipment volumes into account
when analyzing the impacts on
manufacturers. Thus, the results of the
MIA present the impacts of redesigning
all non-compliant products to comply
with the analyzed standard level even if
that is not the path that manufacturers
will choose.
In addition, NEMA pointed out that
fluorescent lamp ballasts have been
subject to four energy conservation
standards since the early 1990s,
including a rulemaking completed in
2011, which NEMA stated had a
significant negative impact on
manufacturers’ INPV. NEMA
commented that because of a declining
demand for these products, another
rulemaking could have a negative
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Federal Register / Vol. 84, No. 204 / Tuesday, October 22, 2019 / Proposed Rules
impact on INPV. (NEMA, No. 12 at p.
8) Philips and ULT commented that
they used to run five and four FLB
factories, respectively, and now they are
running one factory each as a result of
declining sales. (Philips, Public Meeting
Transcript, No. 5 at p. 55; ULT, Public
Meeting Transcript, No. 5 at p. 56)
In those instances in which DOE
proposes amended standards, it
analyzes the benefits and burdens of
each standard independently and
weighs the potential burdens on the
industry as one of the factors in
determining a final standard. In this
notice DOE is proposing a
determination to not amend standards
for fluorescent lamp ballasts. See
section V.D for further details.
V. Analytical Results and Conclusions
The following section addresses the
results from DOE’s analyses with
respect to the considered energy
conservation standards for fluorescent
lamp ballasts. It addresses the ELs
examined by DOE and the projected
impacts of each of these levels.
Additional details regarding DOE’s
analyses are contained in the NOPD
TSD supporting this document.
A. Economic Impacts on Individual
Consumers
DOE analyzed the cost effectiveness
(i.e., the savings in operating costs
throughout the estimated average life of
FLBs compared to any increase in the
price of, or in the initial charges for, or
maintenance expenses of, the FLBs
which are likely to result from the
imposition of a standard at the EL) by
considering the LCC and PBP at each
EL. These analyses are discussed in the
following sections. DOE usually
evaluates the LCC impacts of potential
standards on identifiable subgroups of
consumers that may be affected
disproportionately by a national
standard. However, given the tentative
conclusion discussed in section V.D,
DOE did not conduct a consumer
subgroup analysis for this proposed
determination.
1. Life-Cycle Cost and Payback Period
In general, higher-efficiency products
can affect consumers in two ways: (1)
Purchase price increases and (2) annual
operating costs decrease. Inputs used for
calculating the LCC and PBP include
total installed costs (i.e., product price
plus installation costs), and operating
costs (i.e., annual energy use, energy
prices, energy price trends, repair costs,
and maintenance costs). The LCC
calculation also uses product lifetime
and a discount rate. Chapter 8 of the
NOPD TSD provides detailed
information on the LCC and PBP
analyses.
Table V.1 shows the average LCC and
PBP results for the ELs considered for
fluorescent lamp ballasts in this
analysis.
TABLE V.1—AVERAGE LCC AND PBP RESULTS BY EFFICIENCY LEVEL
LCC savings
2018$
Efficiency level
EL 1 .........................................................................................................................................................................
EL 2 .........................................................................................................................................................................
EL 3 .........................................................................................................................................................................
2. Rebuttable Presumption Payback
As discussed in section IV.E.9, EPCA
establishes a rebuttable presumption
that an energy conservation standard is
economically justified if the increased
purchase cost for a product that meets
the standard is less than three times the
value of the first-year energy savings
resulting from the standard. In
calculating a rebuttable presumption
PBP for each of the considered ELs, DOE
used discrete values, and, as required by
EPCA, based the energy use calculation
on the DOE test procedure for
fluorescent lamp ballasts. In contrast,
the PBPs presented in section V.A.1
were calculated using distributions that
reflect the range of energy use in the
field. See chapter 8 of the NOPD TSD
for more information on the rebuttable
presumption payback analysis.
B. National Impact Analysis
This section presents DOE’s estimates
of the NES and the NPV of consumer
benefits that would result from each of
the ELs considered as potential
amended standards.
1. Significance of Energy Savings
To estimate the energy savings
attributable to potential amended
Simple
payback
period
years
0
1
2
12
10
10
standards for fluorescent lamp ballasts,
DOE compared their energy
consumption under the no-newstandards case to their anticipated
energy consumption under each EL. The
savings are measured over the entire
lifetime of products purchased in the
30-year period that begins in the year of
anticipated compliance with amended
standards (2023–2052). Table V.2
presents DOE’s projections of the NES
for each EL considered for fluorescent
lamp ballasts. The savings were
calculated using the approach described
in section IV.G of this document.
TABLE V.2—CUMULATIVE NATIONAL ENERGY SAVINGS FOR FLUORESCENT LAMP BALLASTS; 30 YEARS OF SHIPMENTS
[2023–2052]
Efficiency level
Shipment scenario
Energy type
1
2
3
quads
1 ......................................................................
2 ......................................................................
3 (Reference Case) ........................................
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FFC Energy ....................................................
Site Energy .....................................................
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0.000
0.000
0.000
0.006
0.017
0.018
0.018
22OCP2
0.000
0.000
0.000
0.019
0.051
0.054
0.055
0.000
0.000
0.000
0.025
0.066
0.069
0.069
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Federal Register / Vol. 84, No. 204 / Tuesday, October 22, 2019 / Proposed Rules
TABLE V.2—CUMULATIVE NATIONAL ENERGY SAVINGS FOR FLUORESCENT LAMP BALLASTS; 30 YEARS OF SHIPMENTS—
Continued
[2023–2052]
Efficiency level
Shipment scenario
Energy type
1
2
3
quads
4 ......................................................................
OMB Circular A–4 40 requires
agencies to present analytical results,
including separate schedules of the
monetized benefits and costs that show
the type and timing of benefits and
costs. Circular A–4 also directs agencies
to consider the variability of key
elements underlying the estimates of
benefits and costs. For this proposed
determination, DOE undertook a
sensitivity analysis using 9 years, rather
Source Energy ...............................................
FFC Energy ....................................................
Site Energy .....................................................
Source Energy ...............................................
FFC Energy ....................................................
than 30 years, of product shipments.
The choice of a 9-year period is a proxy
for the timeline in EPCA for the review
of certain energy conservation standards
and potential revision of and
compliance with such revised
standards.41 The review timeframe
established in EPCA is generally not
synchronized with the product lifetime,
product manufacturing cycles, or other
factors specific to fluorescent lamp
0.049
0.051
0.037
0.098
0.102
0.145
0.152
0.110
0.292
0.306
0.183
0.192
0.137
0.365
0.382
ballasts. Thus, such results are
presented for informational purposes
only and are not indicative of any
change in DOE’s analytical
methodology. The NES sensitivity
analysis results based on a 9-year
analytical period are presented in Table
V.3. The impacts are counted over the
lifetime of fluorescent lamp ballasts
purchased in 2023–2031.
TABLE V.3—CUMULATIVE NATIONAL ENERGY SAVINGS FOR FLUORESCENT LAMP BALLASTS; 9 YEARS OF SHIPMENTS
[2023–2031]
Efficiency level
Shipment scenario
Energy type
1
2
3
quads
1 ......................................................................
2 ......................................................................
3 (Reference Case) ........................................
4 ......................................................................
2. Net Present Value of Consumer Costs
and Benefits
DOE estimated the cumulative NPV of
the total costs and savings for
consumers that would result from the
40 U.S. Office of Management and Budget.
Circular A–4: Regulatory Analysis. September 17,
2003. Available at https://
obamawhitehouse.archives.gov/omb/circulars_
a004_a-4/.
41 Section 325(m) of EPCA requires DOE to review
its standards at least once every 6 years, and
requires, for certain products, a 3-year period after
any new standard is promulgated before
compliance is required, except that in no case may
any new standards be required within 6 years of the
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Source Energy ...............................................
FFC Energy ....................................................
Site Energy .....................................................
Source Energy ...............................................
FFC Energy ....................................................
Site Energy .....................................................
Source Energy ...............................................
FFC Energy ....................................................
0.000
0.000
0.000
0.006
0.016
0.017
0.012
0.032
0.034
0.022
0.058
0.061
0.000
0.000
0.000
0.018
0.047
0.049
0.036
0.097
0.101
0.065
0.175
0.183
0.000
0.000
0.000
0.023
0.061
0.064
0.047
0.124
0.130
0.084
0.224
0.235
ELs considered for fluorescent lamp
ballasts. In accordance with OMB’s
guidelines on regulatory analysis,42
DOE calculated NPV using both a 7percent and a 3-percent real discount
rate. Table V.4 shows the consumer
NPV results with impacts counted over
the lifetime of products purchased in
2023–2052.
compliance date of the previous standards. If DOE
makes a determination that amended standards are
not needed, it must conduct a subsequent review
within 3 years following such a determination. As
DOE is evaluating the need to amend the standards,
the sensitivity analysis is based on the review
timeframe associated with amended standards.
While adding a 6-year review to the 3-year
compliance period adds up to 9 years, DOE notes
that it may undertake reviews at any time within
the 6-year period and that the 3-year compliance
date may yield to the 6-year backstop. A 9-year
analysis period may not be appropriate given the
variability that occurs in the timing of standards
reviews and the fact that for some products, the
compliance period is 5 years rather than 3 years.
42 U.S. Office of Management and Budget.
Circular A–4: Regulatory Analysis. September 17,
2003. Available at https://
obamawhitehouse.archives.gov/omb/circulars_
a004_a-4/.
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Federal Register / Vol. 84, No. 204 / Tuesday, October 22, 2019 / Proposed Rules
56581
TABLE V.4—CUMULATIVE NET PRESENT VALUE OF CONSUMER BENEFITS FOR FLUORESCENT LAMP BALLASTS; 30 YEARS
OF SHIPMENTS
[2023–2052]
Efficiency level
Discount rate
(percent)
Shipment scenario
1
2
3
Billion 2018$
1 ......................................................................
2 ......................................................................
3 (Reference Case) ........................................
4 ......................................................................
The NPV results based on the
aforementioned 9-year analytical period
are presented in Table V.5. The impacts
are counted over the lifetime of
3
7
3
7
3
7
3
7
.....................................................................
.....................................................................
.....................................................................
.....................................................................
.....................................................................
.....................................................................
.....................................................................
.....................................................................
products purchased in 2023–2031. As
mentioned previously, such results are
presented for informational purposes
only and are not indicative of any
(0.000)
(0.000)
(0.050)
(0.053)
(0.146)
(0.133)
(0.293)
(0.256)
0.000
(0.000)
(0.013)
(0.054)
(0.075)
(0.149)
(0.165)
(0.293)
0.000
(0.000)
(0.031)
(0.080)
(0.159)
(0.228)
(0.350)
(0.453)
change in DOE’s analytical methodology
or decision criteria.
TABLE V.5—CUMULATIVE NET PRESENT VALUE OF CONSUMER BENEFITS FOR FLUORESCENT LAMP BALLASTS; 9 YEARS
OF SHIPMENTS
[2023–2031]
Efficiency level
Discount rate
(percent)
Shipment scenario
1
2
3
Billion 2018$
1 ......................................................................
2 ......................................................................
3 (Reference Case) ........................................
4 ......................................................................
C. Economic Impacts on Manufacturers
DOE performed an MIA to estimate
the impact of analyzed energy
conservation standards on
manufacturers of fluorescent lamp
ballasts. The following section describes
the expected impacts on fluorescent
lamp manufacturers at each EL. Chapter
11 of the NOPD TSD explains the
analysis in further detail.
1. Industry Cash Flow Analysis Results
In this section, DOE provides the
results from the MIA, which examines
changes in the industry that would
result from the analyzed standards. The
following tables illustrate the estimated
financial impacts (represented by
changes in INPV) of potential amended
energy conservation standards on
manufacturers of fluorescent lamp
ballasts, as well as the conversion costs
that DOE estimates manufacturers of
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7
3
7
3
7
3
7
.....................................................................
.....................................................................
.....................................................................
.....................................................................
.....................................................................
.....................................................................
.....................................................................
.....................................................................
fluorescent lamp ballasts would incur at
each EL.
To evaluate the range of cash-flow
impacts on the FLB industry, DOE
modeled two markup scenarios that
correspond to the range of anticipated
market responses to potential standards.
Each scenario results in a unique set of
cash flows and corresponding industry
values at each EL. In the following
discussion, the INPV results refer to the
difference in industry value between the
no-new-standards case and the
standards case that result from the sum
of discounted cash flows from the
reference year (2019) through the end of
the analysis period (2052).
To assess the upper (less severe) end
of the range of potential impacts on FLB
manufacturers, DOE modeled a
preservation of gross margin markup
scenario. This scenario assumes that in
the standards case, manufacturers
would be able to pass along all the
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(0.000)
(0.000)
(0.046)
(0.050)
(0.096)
(0.101)
(0.173)
(0.180)
0.000
(0.000)
(0.010)
(0.051)
(0.030)
(0.106)
(0.058)
(0.192)
0.000
(0.000)
(0.025)
(0.074)
(0.066)
(0.157)
(0.128)
(0.285)
higher production costs required for
more efficient products to their
consumers. To assess the lower (more
severe) end of the range of potential
impacts, DOE modeled a preservation of
operating profit markup scenario. The
preservation of operating profit markup
scenario assumes that in the standards
cases, manufacturers would be able to
earn the same operating margin in
absolute dollars as they would in the
no-new-standards case. This represents
the lower bound of industry profitability
in the standards cases.
Table V.6 and Table V.7 present the
results of the industry cash flow
analysis for FLB manufacturers under
the preservation of gross margin and
preservation of operating profit markup
scenarios. See chapter 11 of the NOPD
TSD for results of the complete industry
cash flow analysis by product class.
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Federal Register / Vol. 84, No. 204 / Tuesday, October 22, 2019 / Proposed Rules
TABLE V.6—MANUFACTURER IMPACT ANALYSIS FOR FLUORESCENT LAMP BALLAST—PRESERVATION OF GROSS MARGIN
MARKUP SCENARIO
INPV ..................................................
Change in INPV ................................
Product Conversion Costs ................
Capital Conversion Costs .................
Total Conversion Costs ....................
Units
No-newstandards
case
2018$ millions ..................................
2018$ millions ..................................
% ......................................................
2018$ millions ..................................
2018$ millions ..................................
2018$ millions ..................................
489.3
........................
........................
........................
........................
........................
EL 1
EL 2
436.9
(52.4)
(10.7)
68.8
17.8
86.6
389.1
(100.2)
(20.5)
132.2
33.8
166.0
EL 3
381.5
(107.8)
(22.0)
146.7
36.4
183.1
TABLE V.7—MANUFACTURER IMPACT ANALYSIS FOR FLUORESCENT LAMP BALLAST—PRESERVATION OF OPERATING
PROFIT MARKUP SCENARIO
INPV ..................................................
Change in INPV ................................
Product Conversion Costs ................
Capital Conversion Costs .................
Total Conversion Costs ....................
Units
No-newstandards
case
2018$ millions ..................................
2018$ millions ..................................
% ......................................................
2018$ millions ..................................
2018$ millions ..................................
2018$ millions ..................................
489.3
........................
........................
........................
........................
........................
2. Direct Impacts on Employment
DOE typically presents quantitative
estimates of the potential changes in
production employment that could
result from the analyzed energy
conservation standard levels. However,
for this proposed determination, DOE
determined that no manufacturers have
domestic FLB production. Further, DOE
has tentatively determined that
amended energy conservation standards
are not needed. Therefore, the proposed
determination would not have a
significant impact on domestic
employment in the FLB industry.
3. Impacts on Manufacturing Capacity
DOE does not anticipate any
significant capacity constraints at any of
the analyzed energy conservation
standards. The more efficient
components are currently being used in
existing FLB models and worldwide
supply would most likely be able to
meet the increase in demand given the
3-year compliance period for any
potential energy conservation standards.
4. Impacts on Subgroups of
Manufacturers
Using average cost assumptions to
develop an industry cash-flow estimate
may not be adequate for assessing
differential impacts among
manufacturer subgroups. Small
manufacturers, niche equipment
manufacturers, and manufacturers
exhibiting cost structures substantially
different from the industry average
could be affected disproportionately.
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DOE only identified one manufacturer
subgroup for fluorescent lamp ballasts,
small manufacturers. Given the tentative
conclusion discussed in section V.D,
DOE did not conduct a manufacturer
subgroup analysis on small business
manufacturers for this proposed
determination.
5. Cumulative Regulatory Burden
One aspect of assessing manufacturer
burden involves looking at the
cumulative impact of multiple DOE
standards and the product-specific
regulatory actions of other Federal
agencies that affect the manufacturers of
a covered product. While any one
regulation may not impose a significant
burden on manufacturers, the combined
effects of several existing or impending
regulations may have serious
consequences for some manufacturers,
groups of manufacturers, or an entire
industry. Assessing the impact of a
single regulation may overlook this
cumulative regulatory burden. In
addition to energy conservation
standards, other regulations can
significantly affect manufacturers’
financial operations. Multiple
regulations affecting the same
manufacturer can strain profits and lead
companies to abandon product lines or
markets with lower expected future
returns than competing products. For
these reasons, DOE typically conducts
an analysis of cumulative regulatory
burden as part of its rulemakings
pertaining to appliance efficiency.
However, given the tentative conclusion
discussed in section V.D, DOE did not
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EL 1
EL 2
430.9
(58.4)
(11.9)
68.8
17.8
86.6
375.6
(113.7)
(23.2)
132.2
33.8
166.0
EL 3
363.3
(126.0)
(25.8)
146.7
36.4
183.1
conduct a cumulative regulatory burden
analysis.
D. Proposed Determination
As required by EPCA, this notice
analyzes whether amended standards
for fluorescent lamp ballasts would
result in significant conservation of
energy, be technologically feasible, and
be cost effective. (42 U.S.C.
6295(m)(1)(A) and (n)(2)) In addition to
these criteria, DOE also estimated the
impact on manufacturers. The criteria
considered under 42 U.S.C.
6295(m)(1)(A) and the additional
analysis are discussed below. Because
an analysis of potential cost
effectiveness and energy savings first
require an evaluation of the relevant
technology, DOE first discusses the
technological feasibility of amended
standards. DOE then addresses the cost
effectiveness and energy savings
associated with potential amended
standards.
1. Technological Feasibility
EPCA mandates that DOE consider
whether amended energy conservation
standards for fluorescent lamp ballasts
would be technologically feasible. (42
U.S.C. 6295(m)(1)(A) and (n)(2)(B)) DOE
has tentatively determined that there are
technology options that would improve
the efficiency of fluorescent lamp
ballasts. These technology options are
being used in commercially available
fluorescent lamp ballasts and therefore
are technologically feasible. (See section
IV.A.3 for further information.) Hence,
DOE has tentatively determined that
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A. Review Under Executive Order 12866
This proposed determination has been
determined to be not significant for
purposes of Executive Order 12866,
‘‘Regulatory Planning and Review,’’ 58
FR 51735 (Oct. 4, 1993). As a result, the
OMB did not review this proposed
determination.
is required to make recommendations to
the agency head regarding the repeal,
replacement, or modification of existing
regulations, consistent with applicable
law. At a minimum, each regulatory
reform task force must attempt to
identify regulations that:
(1) Eliminate jobs, or inhibit job
creation;
(2) Are outdated, unnecessary, or
ineffective;
(3) Impose costs that exceed benefits;
(4) Create a serious inconsistency or
otherwise interfere with regulatory
reform initiatives and policies;
(5) Are inconsistent with the
requirements of Information Quality
Act, or the guidance issued pursuant to
that Act, in particular those regulations
that rely in whole or in part on data,
information, or methods that are not
publicly available or that are
insufficiently transparent to meet the
standard for reproducibility; or
(6) Derive from or implement
Executive Orders or other Presidential
directives that have been subsequently
rescinded or substantially modified.
DOE initially concludes that this
rulemaking is consistent with the
directives set forth in these executive
orders.
As discussed in this document, DOE
is proposing not to amend energy
conservation standards for fluorescent
lamp ballasts. Therefore, if finalized as
proposed, this proposed determination
is expected to be an E.O. 13771 other
action.
B. Review Under Executive Orders
13771 and 13777
On January 30, 2017, the President
issued Executive Order (E.O.) 13771,
‘‘Reducing Regulation and Controlling
Regulatory Costs.’’ E.O. 13771 stated the
policy of the executive branch is to be
prudent and financially responsible in
the expenditure of funds, from both
public and private sources. E.O. 13771
stated it is essential to manage the costs
associated with the governmental
imposition of private expenditures
required to comply with Federal
regulations.
Additionally, on February 24, 2017,
the President issued E.O. 13777,
‘‘Enforcing the Regulatory Reform
Agenda.’’ E.O. 13777 required the head
of each agency to designate an agency
official as its Regulatory Reform Officer
(RRO). Each RRO oversees the
implementation of regulatory reform
initiatives and policies to ensure that
agencies effectively carry out regulatory
reforms, consistent with applicable law.
Further, E.O. 13777 requires the
establishment of a regulatory task force
at each agency. The regulatory task force
C. Review Under the Regulatory
Flexibility Act
The Regulatory Flexibility Act (5
U.S.C. 601 et seq.) requires preparation
of an initial regulatory flexibility
analysis (IRFA) for any rule that by law
must be proposed for public comment,
unless the agency certifies that the rule,
if promulgated, will not have a
significant economic impact on a
substantial number of small entities. As
required by Executive Order 13272,
‘‘Proper Consideration of Small Entities
in Agency Rulemaking,’’ 67 FR 53461
(Aug. 16, 2002), DOE published
procedures and policies on February 19,
2003, to ensure that the potential
impacts of its rules on small entities are
properly considered during the
rulemaking process. 68 FR 7990. DOE
has made its procedures and policies
available on the Office of the General
Counsel’s website (https://energy.gov/gc/
office-general-counsel).
DOE reviewed this proposed
determination under the provisions of
the Regulatory Flexibility Act and the
policies and procedures published on
February 19, 2003. Because DOE is
amended energy conservation standards
for fluorescent lamp ballasts are
technologically feasible.
section, DOE has tentatively determined
that amended standards at the evaluated
ELs would not be cost effective.
2. Cost Effectiveness
EPCA requires DOE to consider
whether energy conservation standards
for fluorescent lamp ballasts would be
cost effective through an evaluation of
the savings in operating costs
throughout the estimated average life of
the covered product compared to any
increase in the price of, or in the initial
charges for, or maintenance expenses of,
the covered products which are likely to
result from the imposition of the
standard. (42 U.S.C. 6295(m)(1)(A),
(n)(2)(C), and (o)(2)(B)(i)(II)) DOE
conducted an LCC analysis to estimate
the net costs/benefits to users from
increased efficiency in the considered
fluorescent lamp ballasts. (See results in
Table V.1.) DOE then aggregated the
results from the LCC analysis to
estimate the NPV of the total costs and
benefits experienced by the Nation. (See
results in Table V.4 and Table V.5.) As
noted, the inputs for determining the
NPV are (1) total annual installed cost,
(2) total annual operating costs (energy
costs and repair and maintenance costs),
and (3) a discount factor to calculate the
present value of costs and savings.
DOE first considered the most
efficient level, EL 3 (max tech), which
would result in negative NPV at the 3percent and 7-percent discount rates.
On the basis of negative NPV, DOE
tentatively determined that EL 3 is not
cost effective.
DOE then considered the next most
efficient level, EL 2, which would result
in negative NPV at a 3-percent and 7percent discount rate. On the basis of
negative NPV, DOE tentatively
determined that EL 2 is not cost
effective.
DOE then considered the next most
efficient level, EL 1, which would result
in negative NPV at both a 3-percent and
7-percent discount rate. On the basis of
negative NPV, DOE tentatively
determined that EL 1 is not cost
effective.
4. Other Analysis
In this analysis, DOE also conducted
an MIA to estimate the impact of
potential energy conservation standards
on manufacturers of fluorescent lamp
ballasts. (See results in Table V.6 and
Table V.7.) Each EL for all applicable
product classes is estimated to result in
FLB manufacturers experiencing a loss
in INPV.
3. Significant Conservation of Energy
EPCA also mandates that DOE
consider whether amended energy
conservation standards for fluorescent
lamp ballasts would result in result in
significant conservation of energy. (42
U.S.C. 6295(m)(1)(A) and (n)(2)(A)) DOE
estimates that amended standards for
fluorescent lamp ballasts would result
in site energy savings of 0.018 quads at
EL 1 and 0.069 quads at max tech levels
over a 30-year analysis period (2023–
2052). (See results in Table V.2.)
However, as provided in the prior
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5. Summary
In this proposed determination, based
on the consideration of cost
effectiveness and the initial
determination that amended standards
would not be cost effective, DOE has
tentatively determined that energy
conservation standards for fluorescent
lamp ballasts do not need to be
amended. DOE will consider all
comments received on this proposed
determination in issuing any final
determination.
VI. Procedural Issues and Regulatory
Review
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proposing not to amend standards for
fluorescent lamp ballasts, if adopted, the
determination would not amend any
energy conservation standards. On the
basis of the foregoing, DOE certifies that
the proposed determination, if adopted,
would have no significant economic
impact on a substantial number of small
entities. Accordingly, DOE has not
prepared an IRFA for this proposed
determination. DOE will transmit this
certification and supporting statement
of factual basis to the Chief Counsel for
Advocacy of the Small Business
Administration for review under 5
U.S.C. 605(b).
D. Review Under the Paperwork
Reduction Act
Manufacturers of fluorescent lamp
ballasts must certify to DOE that their
products comply with any applicable
energy conservation standards. In
certifying compliance, manufacturers
must test their products according to the
DOE test procedures for fluorescent
lamp ballasts, including any
amendments adopted for those test
procedures. DOE has established
regulations for the certification and
recordkeeping requirements for all
covered consumer products and
commercial equipment, including
fluorescent lamp ballasts. 76 FR 12422
(March 7, 2011); 80 FR 5099 (Jan. 30,
2015). The collection-of-information
requirement for the certification and
recordkeeping is subject to review and
approval by OMB under the Paperwork
Reduction Act (PRA). This requirement
has been approved by OMB under OMB
control number 1910–1400. Public
reporting burden for the certification is
estimated to average 35 hours per
response, including the time for
reviewing instructions, searching
existing data sources, gathering and
maintaining the data needed, and
completing and reviewing the collection
of information.
Notwithstanding any other provision
of the law, no person is required to
respond to, nor shall any person be
subject to a penalty for failure to comply
with, a collection of information subject
to the requirements of the PRA, unless
that collection of information displays a
currently valid OMB Control Number.
E. Review Under the National
Environmental Policy Act of 1969
DOE is analyzing this proposed action
in accordance with the National
Environmental Policy Act (NEPA) and
DOE’s NEPA implementing regulations
(10 CFR part 1021). DOE’s regulations
include a categorical exclusion for
actions which are interpretations or
rulings with respect to existing
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regulations. 10 CFR part 1021, subpart
D, Appendix A4. DOE anticipates that
this action qualifies for categorical
exclusion A4 because it is an
interpretation or ruling in regards to an
existing regulation and otherwise meets
the requirements for application of a
categorical exclusion. See 10 CFR
1021.410. DOE will complete its NEPA
review before issuing the final action.
F. Review Under Executive Order 13132
Executive Order 13132, ‘‘Federalism,’’
64 FR 43255 (Aug. 10, 1999), imposes
certain requirements on Federal
agencies formulating and implementing
policies or regulations that preempt
State law or that have federalism
implications. The Executive Order
requires agencies to examine the
constitutional and statutory authority
supporting any action that would limit
the policymaking discretion of the
States and to carefully assess the
necessity for such actions. The
Executive Order also requires agencies
to have an accountable process to
ensure meaningful and timely input by
State and local officials in the
development of regulatory policies that
have federalism implications. On March
14, 2000, DOE published a statement of
policy describing the intergovernmental
consultation process it will follow in the
development of such regulations. 65 FR
13735. DOE has examined this proposed
determination and has tentatively
determined that it would not have a
substantial direct effect on the States, on
the relationship between the national
government and the States, or on the
distribution of power and
responsibilities among the various
levels of government. EPCA governs and
prescribes Federal preemption of State
regulations as to energy conservation for
the products that are the subject of this
proposed determination. States can
petition DOE for exemption from such
preemption to the extent, and based on
criteria, set forth in EPCA. (42 U.S.C.
6297) Therefore, no further action is
required by Executive Order 13132.
G. Review Under Executive Order 12988
With respect to the review of existing
regulations and the promulgation of
new regulations, section 3(a) of
Executive Order 12988, ‘‘Civil Justice
Reform,’’ imposes on Federal agencies
the general duty to adhere to the
following requirements: (1) Eliminate
drafting errors and ambiguity, (2) write
regulations to minimize litigation, (3)
provide a clear legal standard for
affected conduct rather than a general
standard, and (4) promote simplification
and burden reduction. 61 FR 4729 (Feb.
7, 1996). Regarding the review required
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by section 3(a), section 3(b) of Executive
Order 12988 specifically requires that
Executive agencies make every
reasonable effort to ensure that the
regulation: (1) Clearly specifies the
preemptive effect, if any, (2) clearly
specifies any effect on existing Federal
law or regulation, (3) provides a clear
legal standard for affected conduct
while promoting simplification and
burden reduction, (4) specifies the
retroactive effect, if any, (5) adequately
defines key terms, and (6) addresses
other important issues affecting clarity
and general draftsmanship under any
guidelines issued by the Attorney
General. Section 3(c) of Executive Order
12988 requires Executive agencies to
review regulations in light of applicable
standards in section 3(a) and section
3(b) to determine whether they are met
or it is unreasonable to meet one or
more of them. DOE has completed the
required review and determined that, to
the extent permitted by law, this
proposed determination meets the
relevant standards of Executive Order
12988.
H. Review Under the Unfunded
Mandates Reform Act of 1995
Title II of the Unfunded Mandates
Reform Act of 1995 (UMRA) requires
each Federal agency to assess the effects
of Federal regulatory actions on State,
local, and Tribal governments and the
private sector. Public Law 104–4, sec.
201 (codified at 2 U.S.C. 1531). For a
proposed regulatory action likely to
result in a rule that may cause the
expenditure by State, local, and Tribal
governments, in the aggregate, or by the
private sector of $100 million or more
in any one year (adjusted annually for
inflation), section 202 of UMRA requires
a Federal agency to publish a written
statement that estimates the resulting
costs, benefits, and other effects on the
national economy. (2 U.S.C. 1532(a) and
(b)) The UMRA also requires a Federal
agency to develop an effective process
to permit timely input by elected
officers of State, local, and Tribal
governments on a proposed ‘‘significant
intergovernmental mandate,’’ and
requires an agency plan for giving notice
and opportunity for timely input to
potentially affected small governments
before establishing any requirements
that might significantly or uniquely
affect them. On March 18, 1997, DOE
published a statement of policy on its
process for intergovernmental
consultation under UMRA. 62 FR
12820. DOE’s policy statement is also
available at https://energy.gov/sites/
prod/files/gcprod/documents/umra_
97.pdf.
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This proposed determination does not
contain a Federal intergovernmental
mandate, nor is it expected to require
expenditures of $100 million or more in
any one year by the private sector. As
a result, the analytical requirements of
UMRA do not apply.
I. Review Under the Treasury and
General Government Appropriations
Act, 1999
Section 654 of the Treasury and
General Government Appropriations
Act, 1999 (Pub. L. 105–277) requires
Federal agencies to issue a Family
Policymaking Assessment for any rule
that may affect family well-being. This
proposed determination would not have
any impact on the autonomy or integrity
of the family as an institution.
Accordingly, DOE has concluded that it
is not necessary to prepare a Family
Policymaking Assessment.
J. Review Under Executive Order 12630
Pursuant to Executive Order 12630,
‘‘Governmental Actions and Interference
with Constitutionally Protected Property
Rights,’’ 53 FR 8859 (March 15, 1988),
DOE has determined that this proposed
determination would not result in any
takings that might require compensation
under the Fifth Amendment to the U.S.
Constitution.
K. Review Under the Treasury and
General Government Appropriations
Act, 2001
Section 515 of the Treasury and
General Government Appropriations
Act, 2001 (44 U.S.C. 3516 note) provides
for Federal agencies to review most
disseminations of information to the
public under information quality
guidelines established by each agency
pursuant to general guidelines issued by
OMB. OMB’s guidelines were published
at 67 FR 8452 (Feb. 22, 2002), and
DOE’s guidelines were published at 67
FR 62446 (Oct. 7, 2002). DOE has
reviewed this NOPD under the OMB
and DOE guidelines and has concluded
that it is consistent with applicable
policies in those guidelines.
L. Review Under Executive Order 13211
Executive Order 13211, ‘‘Actions
Concerning Regulations That
Significantly Affect Energy Supply,
Distribution, or Use,’’ 66 FR 28355 (May
22, 2001), requires Federal agencies to
prepare and submit to OIRA at OMB, a
Statement of Energy Effects for any
proposed significant energy action. A
‘‘significant energy action’’ is defined as
any action by an agency that
promulgates or is expected to lead to
promulgation of a final rule, and that (1)
is a significant regulatory action under
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Executive Order 12866, or any successor
Executive Order; and (2) is likely to
have a significant adverse effect on the
supply, distribution, or use of energy, or
(3) is designated by the Administrator of
OIRA as a significant energy action. For
any proposed significant energy action,
the agency must give a detailed
statement of any adverse effects on
energy supply, distribution, or use
should the proposal be implemented,
and of reasonable alternatives to the
action and their expected benefits on
energy supply, distribution, and use.
Because this proposed determination
does not propose amended energy
conservation standards for fluorescent
lamp ballasts, it is not a significant
energy action, nor has it been
designated as such by the Administrator
at OIRA. Accordingly, DOE has not
prepared a Statement of Energy Effects.
M. Information Quality
On December 16, 2004, OMB, in
consultation with the Office of Science
and Technology Policy (OSTP), issued
its Final Information Quality Bulletin
for Peer Review (the Bulletin). 70 FR
2664 (Jan. 14, 2005). The Bulletin
establishes that certain scientific
information shall be peer reviewed by
qualified specialists before it is
disseminated by the Federal
Government, including influential
scientific information related to agency
regulatory actions. The purpose of the
bulletin is to enhance the quality and
credibility of the Government’s
scientific information. Under the
Bulletin, the energy conservation
standards rulemaking analyses are
‘‘influential scientific information,’’
which the Bulletin defines as ‘‘scientific
information the agency reasonably can
determine will have, or does have, a
clear and substantial impact on
important public policies or private
sector decisions.’’ Id. at 70 FR 2667.
In response to OMB’s Bulletin, DOE
conducted formal peer reviews of the
energy conservation standards
development process and the analyses
that are typically used and has prepared
a report describing that peer review.43
Generation of this report involved a
rigorous, formal, and documented
evaluation using objective criteria and
qualified and independent reviewers to
make a judgment as to the technical/
scientific/business merit, the actual or
anticipated results, and the productivity
and management effectiveness of
programs and/or projects. DOE has
43 ‘‘Energy Conservation Standards Rulemaking
Peer Review Report.’’ 2007. Available at https://
energy.gov/eere/buildings/downloads/energyconservation-standards-rulemaking-peer-reviewreport-0.
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determined that the peer-reviewed
analytical process continues to reflect
current practice, and the Department
followed that process for developing its
determination in the case of the present
action.
VII. Public Participation
A. Participation in the Webinar
The time and date of the webinar are
listed in the DATES section at the
beginning of this document. If no
participants register for the webinar
then it will be cancelled. Webinar
registration information, participant
instructions, and information about the
capabilities available to webinar
participants will be published on DOE’s
website: https://www1.eere.energy.gov/
buildings/appliance_standards/
standards.aspx?productid=3.
Participants are responsible for ensuring
their systems are compatible with the
webinar software.
Additionally, you may request an inperson meeting to be held prior to the
close of the request period provided in
the DATES section of this document.
Requests for an in-person meeting may
be made by contacting Appliance and
Equipment Standards Program staff at
(202) 287–1445 or by email: Appliance_
Standards_Public_Meetings@ee.doe.gov.
B. Submission of Comments
DOE will accept comments, data, and
information regarding this proposed
determination no later than the date
provided in the DATES section at the
beginning of this proposed
determination. Interested parties may
submit comments, data, and other
information using any of the methods
described in the ADDRESSES section at
the beginning of this document.
Submitting comments via https://
www.regulations.gov. The https://
www.regulations.gov web page will
require you to provide your name and
contact information. Your contact
information will be viewable to DOE
Building Technologies staff only. Your
contact information will not be publicly
viewable except for your first and last
names, organization name (if any), and
submitter representative name (if any).
If your comment is not processed
properly because of technical
difficulties, DOE will use this
information to contact you. If DOE
cannot read your comment due to
technical difficulties and cannot contact
you for clarification, DOE may not be
able to consider your comment.
However, your contact information
will be publicly viewable if you include
it in the comment itself or in any
documents attached to your comment.
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Any information that you do not want
to be publicly viewable should not be
included in your comment, nor in any
document attached to your comment.
Otherwise, persons viewing comments
will see only first and last names,
organization names, correspondence
containing comments, and any
documents submitted with the
comments.
Do not submit to https://
www.regulations.gov information for
which disclosure is restricted by statute,
such as trade secrets and commercial or
financial information (hereinafter
referred to as Confidential Business
Information (CBI)). Comments
submitted through https://
www.regulations.gov cannot be claimed
as CBI. Comments received through the
website will waive any CBI claims for
the information submitted. For
information on submitting CBI, see the
Confidential Business Information
section.
DOE processes submissions made
through https://www.regulations.gov
before posting. Normally, comments
will be posted within a few days of
being submitted. However, if large
volumes of comments are being
processed simultaneously, your
comment may not be viewable for up to
several weeks. Please keep the comment
tracking number that https://
www.regulations.gov provides after you
have successfully uploaded your
comment.
Submitting comments via email, hand
delivery/courier, or postal mail.
Comments and documents submitted
via email, hand delivery/courier, or
postal mail also will be posted to https://
www.regulations.gov. If you do not want
your personal contact information to be
publicly viewable, do not include it in
your comment or any accompanying
documents. Instead, provide your
contact information in a cover letter.
Include your first and last names, email
address, telephone number, and
optional mailing address. The cover
letter will not be publicly viewable as
long as it does not include any
comments.
Include contact information each time
you submit comments, data, documents,
and other information to DOE. If you
submit via postal mail or hand delivery/
courier, please provide all items on a
CD, if feasible, in which case it is not
necessary to submit printed copies. No
telefacsimiles (faxes) will be accepted.
Comments, data, and other
information submitted to DOE
electronically should be provided in
PDF (preferred), Microsoft Word or
Excel, WordPerfect, or text (ASCII) file
format. Provide documents that are not
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secured, that are written in English, and
that are free of any defects or viruses.
Documents should not contain special
characters or any form of encryption
and, if possible, they should carry the
electronic signature of the author.
Campaign form letters. Please submit
campaign form letters by the originating
organization in batches of between 50 to
500 form letters per PDF or as one form
letter with a list of supporters’ names
compiled into one or more PDFs. This
reduces comment processing and
posting time.
Confidential Business Information.
Pursuant to 10 CFR 1004.11, any person
submitting information that he or she
believes to be confidential and exempt
by law from public disclosure should
submit via email, postal mail, or hand
delivery/courier two well-marked
copies: one copy of the document
marked ‘‘confidential’’ including all the
information believed to be confidential,
and one copy of the document marked
‘‘non-confidential’’ with the information
believed to be confidential deleted.
Submit these documents via email or on
a CD, if feasible. DOE will make its own
determination about the confidential
status of the information and treat it
according to its determination.
Factors of interest to DOE when
evaluating requests to treat submitted
information as confidential include (1) a
description of the items, (2) whether
and why such items are customarily
treated as confidential within the
industry, (3) whether the information is
generally known by or available from
other sources, (4) whether the
information has previously been made
available to others without obligation
concerning its confidentiality, (5) an
explanation of the competitive injury to
the submitting person that would result
from public disclosure, (6) when such
information might lose its confidential
character due to the passage of time, and
(7) why disclosure of the information
would be contrary to the public interest.
It is DOE’s policy that all comments
may be included in the public docket,
without change and as received,
including any personal information
provided in the comments (except
information deemed to be exempt from
public disclosure).
C. Issues on Which DOE Seeks
Comment
Although DOE welcomes comments
on any aspect of this proposal, DOE is
particularly interested in receiving
comments and views of interested
parties concerning the following issues:
(1) DOE seeks comment on its
evaluation of the efficiency of dimming
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ballasts as BLE at full light output. See
section IV.A.2.
(2) DOE seeks comment on the ELs
under consideration for the
representative and non-representative
product classes, including the max tech
levels. See section IV.B.5 and IV.B.6.
(3) DOE seeks comment on the
methodology and results for estimating
end-user prices for fluorescent lamp
ballasts in this analysis. See section
IV.C.
(4) DOE seeks comment on the
methods to improve DOE’s energy-use
analysis, as well as any data supporting
alternate operating hour estimates or
assumptions regarding dimming of
fluorescent lamp ballasts. See section
IV.E.
(5) DOE seeks comment on the type,
prevalence, and operating hour
reductions related to the use of lighting
controls used separately in commercial,
industrial, and residential sectors. See
section IV.E.
(6) DOE seeks comment on the
assumptions and methodology for
estimating annual operating hours. See
section IV.E.
(7) DOE seeks comment whether the
shipment scenarios under various
policy scenarios are reasonable and
likely to occur. See section IV.F.
(8) DOE seeks comment and
information on whether dimming
ballasts should have a different rate of
decline than the similar non-dimming
fluorescent lamp ballasts. See section
IV.F.
(9) DOE seeks comments on which
shipment scenario accurately
characterizes future dimming FLB
shipments. See section IV.F.
(10) DOE seeks comments on which of
the four scenarios best characterize
future shipments of fluorescent lamp
ballasts. See section IV.F.
(11) DOE seeks comment on the
percentage of customers to model in a
standards-induced shift that would
migrate away from FLB technology. See
section IV.G.1.
(12) DOE seeks comments on the
specific incremental cost in fluorescent
lamp ballasts that could trigger a
standards-induced shift away from
fluorescent lamp ballasts. See section
IV.G.1.
(13) DOE seeks comment on the
approach for determining input power
and price for LED devices considered in
a standards-induced shift. See section
IV.G.1.
(14) DOE seeks comment on the
impediments that prevent users of
fluorescent lamp ballasts from switching
to LED lighting. See section IV.G.
(15) DOE seeks comment on the
expected effect of potential standards on
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the rate at which FLB consumers
transition to non-FLB technology. See
section IV.G.
VIII. Approval of the Office of the
Secretary
The Secretary of Energy has approved
publication of this notice of proposed
determination.
Signed in Washington, DC, on October 1,
2019.
Daniel R Simmons,
Assistant Secretary, Energy Efficiency and
Renewable Energy.
[FR Doc. 2019–22537 Filed 10–21–19; 8:45 am]
BILLING CODE 6450–01–P
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Agencies
[Federal Register Volume 84, Number 204 (Tuesday, October 22, 2019)]
[Proposed Rules]
[Pages 56540-56587]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2019-22537]
[[Page 56539]]
Vol. 84
Tuesday,
No. 204
October 22, 2019
Part II
Department of Energy
-----------------------------------------------------------------------
10 CFR Part 430
Energy Conservation Program: Energy Conservation Standards for
Fluorescent Lamp Ballasts; Proposed Rule
Federal Register / Vol. 84, No. 204 / Tuesday, October 22, 2019 /
Proposed Rules
[[Page 56540]]
-----------------------------------------------------------------------
DEPARTMENT OF ENERGY
10 CFR Part 430
[EERE-2015-BT-STD-0006]
RIN 1905-AD51
Energy Conservation Program: Energy Conservation Standards for
Fluorescent Lamp Ballasts
AGENCY: Office of Energy Efficiency and Renewable Energy, Department of
Energy.
ACTION: Notice of proposed determination and request for comment.
-----------------------------------------------------------------------
SUMMARY: The Energy Policy and Conservation Act of 1975, as amended
(EPCA), prescribes energy conservation standards for various consumer
products and certain commercial and industrial equipment, including
fluorescent lamp ballasts. EPCA also requires the U.S. Department of
Energy (DOE) to periodically determine whether more-stringent, amended
standards would be technologically feasible and economically justified,
and would result in significant energy savings. In this notice of
proposed determination (NOPD), DOE has initially determined that energy
conservation standards for fluorescent lamp ballasts do not need to be
amended and also asks for comment on this proposed determination and
associated analyses and results.
DATES:
Meeting: DOE will hold a webinar on Wednesday, October 30, 2019,
from 10:00 a.m. to 3:00 p.m. See section V, ``Public Participation,''
for webinar registration information, participant instructions, and
information about the capabilities available to webinar participants.
If no participants register for the webinar than it will be cancelled.
DOE will hold a public meeting on this proposed determination if one is
requested by November 5, 2019.
Comments: Written comments and information are requested and will
be accepted on or before December 23, 2019.
ADDRESSES: Interested persons are encouraged to submit comments using
the Federal eRulemaking Portal at https://www.regulations.gov. Follow
the instructions for submitting comments. Alternatively, interested
persons may submit comments, identified by docket number EERE-2015-BT-
STD-0006, by any of the following methods:
(1) Federal eRulemaking Portal: https://www.regulations.gov. Follow
the instructions for submitting comments.
(2) Email: [email protected]. Include the
docket number EERE-2015-BT-STD-0006 in the subject line of the message.
(3) Postal Mail: Appliance and Equipment Standards Program, U.S.
Department of Energy, Building Technologies Office, Mailstop EE-5B,
1000 Independence Avenue SW, Washington, DC 20585-0121. Telephone:
(202) 287-1445. If possible, please submit all items on a compact disc
(``CD''), in which case it is not necessary to include printed copies.
(4) Hand Delivery/Courier: Appliance and Equipment Standards
Program, U.S. Department of Energy, Building Technologies Office, 950
L'Enfant Plaza SW, 6th Floor, Washington, DC 20024. Telephone: (202)
287-1445. If possible, please submit all items on a CD, in which case
it is not necessary to include printed copies.
No telefacsimiles (faxes) will be accepted. For detailed
instructions on submitting comments and additional information on this
process, see section VII of this document.
Docket: The docket, which includes Federal Register notices, public
meeting attendee lists and transcripts, comments, and other supporting
documents/materials, is available for review at https://www.regulations.gov. All documents in the docket are listed in the
https://www.regulations.gov index. However, not all documents listed in
the index may be publicly available, such as information that is exempt
from public disclosure.
The docket web page can be found at https://www.regulations.gov/document?D=EERE-2015-BT-STD-0006. The docket web page contains
instructions on how to access all documents, including public comments,
in the docket. See section VII, ``Public Participation,'' for further
information on how to submit comments through https://www.regulations.gov.
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].
Ms. Sarah Butler, U.S. Department of Energy, Office of the General
Counsel, GC-33, 1000 Independence Avenue SW, Washington, DC 20585-0121.
Telephone: (202) 586-1777. Email: [email protected].
For further information on how to submit a comment or review other
public comments and the docket contact the Appliance and Equipment
Standards Program staff at (202) 287-1445 or by email:
[email protected].
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Synopsis of the Proposed Determination
II. Introduction
A. Authority and Background
1. Current Standards
2. History of Standards Rulemakings for Fluorescent Lamp
Ballasts
III. General Discussion
A. Product Classes and Scope of Coverage
B. Test Procedure
C. Technological Feasibility
1. General
2. Maximum Technologically Feasible Levels
D. Energy Savings
1. Determination of Savings
2. Significance of Savings
E. Cost Effectiveness
F. Other Analyses
IV. Methodology and Discussion of Related Comments
A. Market and Technology Assessment
1. Scope of Coverage and Product Classes
a. Dimming Ballasts
b. Ballasts Operating at 480 V
c. Low-Current PS Ballasts
d. Low Frequency EMI Ballasts
2. Metric
a. Active Mode Energy Consumption
b. Standby Mode Energy Consumption
3. Technology Options
4. Screening Analysis
a. Screened-Out Technologies
b. Remaining Technologies
5. Product Classes
a. Existing Product Classes
b. Additional Product Classes
c. Summary
B. Engineering Analysis
1. Significant Data Sources
2. Representative Product Classes
3. Baseline Ballasts
4. More-Efficient Substitutes
5. Efficiency Levels
6. Scaling to Other Product Classes
7. Proprietary Designs
C. Product Price Determination
D. Energy Use Analysis
1. Reduced Wattage Fluorescent Lamps
2. Occupancy Sensors
3. Dimming Ballasts
4. Tubular LEDs
E. Life-Cycle Cost and Payback Period Analysis
1. Product Cost
2. Installation Cost
3. Annual Energy Consumption
4. Energy Prices
5. Maintenance and Repair Costs
6. Product Lifetime
7. Discount Rates
8. Energy Efficiency Distribution in the No-New-Standards Case
9. Payback Period Analysis
F. Shipments Analysis
1. Shipment Scenarios Modeled
2. Dimming Ballasts
3. Tubular LEDs
G. National Impact Analysis
[[Page 56541]]
1. Product Efficiency Trends
2. National Energy Savings
3. Net Present Value Analysis
H. Manufacturer Impact Analysis
1. Manufacturer Production Costs
2. Shipments Projections
3. Product and Capital Conversion Costs
4. Markup Scenarios
5. Manufacturer Interviews
a. Shift to Solid-State Lighting
b. Limited Investment in Fluorescent Lamp Ballasts
6. Discussion of MIA Comments
V. Analytical Results and Conclusions
A. Economic Impacts on Individual Consumers
1. Life-Cycle Cost and Payback Period
2. Rebuttable Presumption Payback
B. National Impact Analysis
1. Significance of Energy Savings
2. Net Present Value of Consumer Costs and Benefits
C. Economic Impacts on Manufacturers
1. Industry Cash Flow Analysis Results
2. Direct Impacts on Employment
3. Impacts on Manufacturing Capacity
4. Impacts on Subgroups of Manufacturers
5. Cumulative Regulatory Burden
D. Proposed Determination
1. Technological Feasibility
2. Cost Effectiveness
3. Significant Conservation of Energy
4. Other Analysis
5. Summary
VI. Procedural Issues and Regulatory Review
A. Review Under Executive Order 12866
B. Review Under Executive Orders 13771 and 13777
C. Review Under the Regulatory Flexibility Act
D. Review Under the National Environmental Policy Act of 1969
E. Review Under Executive Order 13132
F. Review Under Executive Order 12988
G. Review Under the Unfunded Mandates Reform Act of 1995
H. Review Under the Treasury and General Government
Appropriations Act, 1999
I. Review Under Executive Order 12630
J. Review Under the Treasury and General Government
Appropriations Act, 2001
K. Review Under Executive Order 13211
L. Information Quality
VII. Public Participation
A. Participation in the Webinar
B. Submission of Comments
C. Issues on Which DOE Seeks Comment
VIII. Approval of the Office of the Secretary
I. Synopsis of the Proposed Determination
Title III, Part B \1\ of the Energy Policy and Conservation Act of
1975, as amended (EPCA),\2\ established the Energy Conservation Program
for Consumer Products Other Than Automobiles. (42 U.S.C. 6291-6309)
These products include fluorescent lamp ballasts, the subject of this
NOPD.
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\1\ For editorial reasons, upon codification in the U.S. Code,
Part B was redesignated Part A.
\2\ 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).
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DOE is issuing this NOPD pursuant to the EPCA requirement that not
later than 6 years after issuance of any final rule establishing or
amending an energy conservation standard for a covered product, DOE
must publish either a notice of determination indicating that standards
for the product do not need to be amended, or a notice of proposed
rulemaking (NOPR) including new proposed energy conservation standards.
(42 U.S.C. 6295(m)(1)(A) and (B))
For this proposed determination, DOE analyzed fluorescent lamp
ballasts subject to standards specified in 10 CFR 430.32(m). In
addition, DOE evaluated whether current standards should be extended to
additional fluorescent lamp ballasts. Specifically, DOE considered
standards for dimming ballasts and 4-foot T8 medium bipin (MBP)
programmed start (PS) ballasts with an average current less than 140 mA
(hereafter low-current PS ballasts). Hence, potential amended energy
conservation standards in this NOPD refer not only to changes to
existing standards but also extension of standards to additional
fluorescent lamp ballasts.
DOE first analyzed the technological feasibility of more efficient
fluorescent lamp ballasts. For those fluorescent lamp ballasts for
which DOE determined it to be technologically feasible to have higher
standards or be subject to standards, DOE estimated energy savings that
would result from potential energy conservation standards by conducting
a national impacts analysis (NIA). DOE evaluated whether these amended
standards would be cost effective by conducting life-cycle cost (LCC)
and payback period (PBP) analyses, and estimated the net present value
(NPV) of the total costs and benefits experienced by consumers. In
addition to the consideration of these criteria, DOE conducted a
manufacturer impact analyses (MIA).
Based on the results of these analyses summarized in section V of
this document, DOE has tentatively determined that current standards
for fluorescent lamp ballasts do not need to be amended because amended
standards would not be cost effective.
II. Introduction
The following section briefly discusses the statutory authority
underlying this proposed determination, as well as some of the relevant
historical background related to the establishment of standards for
fluorescent lamp ballasts.
A. Authority and Background
Title III, Part B of EPCA includes the fluorescent lamp ballasts
that are the subject of this proposed determination. (42 U.S.C.
6292(a)(13)) EPCA prescribed energy conservation standards for these
products. (42 U.S.C. 6295(g)(5)) EPCA directed DOE to (1) conduct two
rulemaking cycles to determine whether these standards should be
amended; and (2) for each rulemaking cycle, determine whether the
standards in effect for fluorescent lamp ballasts should be amended so
that they would be applicable to additional fluorescent lamp ballasts.
(42 U.S.C. 6295(g)(7)(A) and (B)) Through amendments to EPCA under the
Energy Policy Act of 2005 (EPACT 2005), Public Law 109-58, Congress
promulgated new energy conservation standards for certain fluorescent
lamp ballasts. (EPACT section 135(c)(2); codified at 42 U.S.C.
6295(g)(8)(A))
The energy conservation program for covered products under EPCA
consists essentially of four parts: (1) Testing, (2) labeling, (3) the
establishment of Federal energy conservation standards, and (4)
certification and enforcement procedures. The Federal Trade Commission
(FTC) is primarily responsible for labeling, and DOE implements the
remainder of the program.
Subject to certain criteria and conditions, DOE is required to
develop test procedures to measure the energy efficiency, energy use,
or estimated annual operating cost of each covered product. (42 U.S.C.
6295(o)(3)(A) and (r)) Manufacturers of covered products must use the
prescribed DOE test procedure as the basis for certifying to DOE that
their products comply with the applicable energy conservation standards
adopted under EPCA and when making representations to the public
regarding the energy use or efficiency of those products. (42 U.S.C.
6293(c) and 6295(s)) Similarly, DOE must use these test procedures to
determine whether the products comply with standards adopted pursuant
to EPCA. (42 U.S.C. 6295(s)) The DOE test procedures for fluorescent
lamp ballasts appear at title 10 of the Code of Federal Regulations
(CFR) part 430, subpart B, appendix Q.
Federal energy conservation requirements generally supersede State
laws or regulations concerning energy conservation testing, labeling,
and standards. (42 U.S.C. 6297(a) through (c)) DOE may, however, grant
waivers of Federal preemption for particular State laws or regulations,
in accordance with
[[Page 56542]]
the procedures and other provisions set forth under 42 U.S.C. 6297(d)).
Pursuant to the amendments contained in the Energy Independence and
Security Act of 2007 (EISA 2007), Public Law 110-140, any final rule
for new or amended energy conservation standards promulgated after July
1, 2010, is required to address standby mode and off mode energy use.
(42 U.S.C. 6295(gg)(3)) Specifically, when DOE adopts a standard for a
covered product after that date, it must, if justified by the criteria
for adoption of standards under EPCA (42 U.S.C. 6295(o)), incorporate
standby mode and off mode energy use into a single standard, or, if
that is not feasible, adopt a separate standard for such energy use for
that product. (42 U.S.C. 6295(gg)(3)(A) and (B)) DOE's current test
procedures for fluorescent lamp ballasts address standby mode and off
mode energy use. In this analysis DOE considers such energy use in its
determination of whether energy conservation standards need to be
amended.
DOE is issuing this proposed determination pursuant to 42 U.S.C.
6295(m), which states that DOE must periodically review its already
established energy conservation standards for a covered product no
later than 6 years from the issuance of a final rule establishing or
amending a standard for a covered product. As a result of this review,
DOE must either publish a determination that standards do not need to
be amended or a NOPR, including new proposed standards (proceeding to a
final rule, as appropriate). (42 U.S.C. 6295(m)(1)) EPCA further
provides that, not later than 3 years after the issuance of a final
determination not to amend standards, DOE must make a new determination
and publish either a notice of determination that standards for the
product do not need to be amended, or a NOPR including new proposed
energy conservation standards (proceeding to a final rule, as
appropriate). (42 U.S.C. 6295(m)(3)(B)) DOE must make the analysis on
which the determination is based publicly available and provide an
opportunity for written comment. (42 U.S.C. 6295(m)(2)) A determination
that amended standards are not needed must be based on consideration of
whether amended standards will result in significant conservation of
energy, are technologically feasible, and are cost effective. (42
U.S.C. 6295(m)(1)(A) and (n)(2)) An evaluation of cost effectiveness
requires that DOE consider savings in operating costs throughout the
estimated average life of the covered products in the type (or class)
compared to any increase in the price of, or initial charges for, or
maintenance expenses of, the covered products that are likely to result
from the standard. (42 U.S.C. 6295(n)(2) and (o)(2)(B)(i)(II))
1. Current Standards
In a final rule published on November 14, 2011, DOE prescribed the
current energy conservation standards for fluorescent lamp ballasts
manufactured on and after November 14, 2014 (2011 FL Ballast Rule). 76
FR 70548. These standards require a minimum power factor of 0.9 or
greater for ballasts that are not residential ballasts or 0.5 or
greater for residential ballasts and a minimum ballast luminous
efficiency (BLE) as set forth in DOE's regulations at 10 CFR 430.32(m)
and repeated in Table II.1.
Table II.1--Federal Energy Conservation Standards for Fluorescent Lamp Ballasts
----------------------------------------------------------------------------------------------------------------
BLE = A / (1 + B * average total lamp arc power [supcaret]-C) Where A, B, and C are as follows:
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Description A B C
----------------------------------------------------------------------------------------------------------------
Instant start and rapid start ballasts (not classified as residential)
that are designed to operate:
4-foot medium bipin lamps, 2-foot U-shaped lamps, 8-foot slimline 0.993 0.27 0.25
lamps...............................................................
Programmed start ballasts (not classified as residential) that are
designed to operate:
4-foot medium bipin lamps, 2-foot U-shaped lamps, 4-foot miniature 0.993 0.51 0.37
bipin standard output lamps, 4-foot miniature bipin high output
lamps...............................................................
Instant start and rapid start ballasts (not classified as sign ballasts) 0.993 0.38 0.25
that are designed to operate 8-foot high output lamps...................
Programmed start ballasts (not classified as sign ballasts) that are 0.973 0.70 0.37
designed to operate 8-foot high output lamps............................
Sign ballasts that operate 8-foot high output lamps...................... 0.993 0.47 0.25
Instant start and rapid start residential ballasts that operate:
4-foot medium bipin lamps, 2-foot U-shaped lamps, 8-foot slimline 0.993 0.41 0.25
lamps...............................................................
Programmed start residential ballasts that are designed to operate:
4-foot medium bipin lamps, 2-foot U-shaped lamps..................... 0.973 0.71 0.37
----------------------------------------------------------------------------------------------------------------
2. History of Standards Rulemakings for Fluorescent Lamp Ballasts
On September 19, 2000, DOE published a final rule in the Federal
Register, which completed the first of the two rulemaking cycles to
evaluate and amend the energy conservation standards for fluorescent
lamp ballasts (2000 FL Ballast Rule). 65 FR 56740. The rulemaking
established a standard reflecting a recommendation presented in a joint
comment submitted by members of the fluorescent lamp ballast (FLB)
industry and energy efficiency advocacy organizations. (Id.)
On October 18, 2005, DOE published a final rule in the Federal
Register codifying the new FLB standards established in EPACT 2005
section 135(c)(2) into the CFR at 10 CFR 430.32(m). 70 FR 60407. These
standards established ballast efficiency requirements for ballasts that
operate ``energy saver'' versions of full-wattage lamps, such as the
F34T12 lamp.
Following the amendments from EPACT 2005, the second rulemaking
cycle required by 42 U.S.C. 6295(g)(7) was completed with publication
of the 2011 FL Ballast Rule. 76 FR 70548. The 2011 FL Ballast Rule
changed the metric required for fluorescent lamp ballasts from ballast
efficacy factor (BEF) to ballast luminous efficiency (BLE) and set new
and amended energy conservation standards.
In support of the present review of the fluorescent lamp ballast
energy conservation standards, DOE prepared the ``Energy Conservation
Standards Rulemaking Framework Document for Fluorescent Lamp Ballasts''
(Framework Document), which describes the procedural and analytical
approaches DOE anticipated using to evaluate energy conservation
standards for fluorescent lamp ballasts. On June 23, 2015, DOE
published a notice announcing the availability of the Framework
document. 80 FR 35886. The Framework document is available
[[Page 56543]]
at https://www1.eere.energy.gov/buildings/appliance_standards/standards.aspx?productid=3.
DOE held a public meeting on July 17, 2015, at which it described
the various analyses that DOE would conduct as part of its review of
the energy conservation standards for fluorescent lamp ballasts, such
as the engineering analysis, the LCC and PBP analyses, and the NIA.
Representatives for manufacturers, trade associations, environmental
and energy efficiency advocates, and other interested parties attended
the meeting.\3\
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\3\ A transcript of the public meeting and supporting documents
are available in the docket for this proposed determination at:
https://www.regulations.gov/docket?D=EERE-2015-BT-STD-0006.
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III. General Discussion
DOE developed this proposed determination after considering oral
and written comments, data, and information from interested parties
that represent a variety of interests. This notice addresses issues
raised by these commenters.
A. Product Classes and Scope of Coverage
When evaluating and establishing energy conservation standards, DOE
divides covered products into product classes by the type of energy
used or by capacity or other performance-related features that justify
differing standards. In making a determination whether a performance-
related feature justifies a different standard, DOE must consider such
factors as the utility of the feature to the consumer and other factors
DOE determines are appropriate. (42 U.S.C. 6295(q)) The product classes
for this proposed determination are discussed in further detail in
section IV.A.5. This proposed determination covers fluorescent lamp
ballasts defined as a device which is used to start and operate
fluorescent lamps by providing a starting voltage and current and
limiting the current during normal operation. 10 CFR 430.2. The scope
of coverage is discussed in further detail in section IV.A.1.
B. Test Procedure
EPCA sets forth generally applicable criteria and procedures for
DOE's adoption and amendment of test procedures. (42 U.S.C. 6293)
Manufacturers of covered products must use these test procedures to
certify to DOE that their product complies with energy conservation
standards and to quantify the efficiency of their product. DOE's
current energy conservation standards for fluorescent lamp ballasts are
expressed in terms of BLE. (See 10 CFR 430.32(m).)
DOE published a test procedure final rule on October 22, 2009,
establishing standby mode energy consumption test procedures for
fluorescent lamp ballasts (2009 Standby Test Procedure). 74 FR 54445.
DOE published a test procedure final rule on May 4, 2011, establishing
revised active mode test procedures for fluorescent lamp ballasts (2011
Active Mode Test Procedure). 76 FR 25211. The test procedures for
fluorescent lamp ballasts are codified in appendix Q to subpart B of
part 430.\4\
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\4\ The 2011 Active Mode Test Procedure Final Rule established
appendix Q1 to subpart B of part 430, which was subsequently
redesignated as appendix Q to subpart B of part 430 by the
clarification rule published in 2015. 80 FR 31971 (June 5, 2015).
---------------------------------------------------------------------------
Subsequently, DOE published several final rules further refining
the test procedures for fluorescent lamp ballasts. On February 4, 2015,
in a final rule, DOE adopted amendments to further specify the
appropriate test procedure and that followed the intent of the 2011
Active Mode Test Procedure to support any new or revised energy
conservation standards at the time those standards require compliance.
80 FR 5896. On June 5, 2015, in a final rule, DOE revised definitions
and test setup, modified organization of requirements, and deleted
obsolete requirements. 80 FR 31971. On April 29, 2016, in a final rule,
DOE replaced all instances of ballast efficacy factor (BEF) with BLE as
applicable, added rounding instructions for BLE and power factor,
clarified represented value instructions for power factor, and
clarified lamp-ballast pairings for testing. 81 FR 25595.
In the Framework document, DOE requested comments on the current
test procedures for fluorescent lamp ballasts and whether amendments
are needed. Pacific Gas and Electric Company, Southern California Gas
Company, San Diego Gas and Electric Company, and Southern California
Edison, collectively referred to herein as the California investor-
owned utilities (CA IOUs), and the Northwest Energy Efficiency Alliance
(NEEA) recommended that DOE begin a review of its test procedure for
fluorescent lamp ballasts if it is considering expanding the scope of
standards to dimming ballasts. (CA IOUs, No. 10 at p. 3; NEEA, Public
Meeting Transcript, No. 5 at p. 68) The National Electrical
Manufacturers Association (NEMA) and Philips Lighting North America
Corporation (Philips) \5\ stated that some technical experts have been
considering an alternative testing procedure that would require
preheating potted ballasts. They asserted that this alternative test
procedure would remove the need to acquire large amounts of data and
save time but yield comparable results to the current DOE test
procedure. (Philips, No. 8 at p. 2; NEMA, No. 12 at p. 2)
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\5\ Between the time of the public meeting and the publication
of this NOPD, Philips Lighting changed its name to Signify. However,
because at the time, the name was Philips, as well as comments in
the docket were provided under the Philips name, throughout this
document, its comments will refer to the company name at the time of
the public meeting.
---------------------------------------------------------------------------
DOE appreciates the feedback on DOE's current test procedures for
fluorescent lamp ballasts. DOE initiated a review of the test
procedures and on March 18, 2019, published a notice of proposed
rulemaking for FLB test procedures in which it discusses these comments
in detail (hereafter ``FLB TP NOPR''). 84 FR 9910.
C. Technological Feasibility
1. General
In evaluating potential amendments to energy conservation
standards, DOE conducts a screening analysis based on information
gathered on all current technology options and prototype designs that
could improve the efficiency of the products or equipment that are the
subject of the rulemaking. As the first step in such an analysis, DOE
develops a list of technology options for consideration in consultation
with manufacturers, design engineers, and other interested parties. DOE
then determines which of those means for improving efficiency are
technologically feasible. DOE considers technologies incorporated in
commercially available products or in working prototypes to be
technologically feasible. 10 CFR part 430, subpart C, appendix A,
section 4(a)(4)(i)
After DOE has determined that particular technology options are
technologically feasible, it further evaluates each technology option
in light of the following additional screening criteria: (1)
Practicability to manufacture, install, and service; (2) adverse
impacts on product utility or availability; and (3) adverse impacts on
health or safety. 10 CFR part 430, subpart C, appendix A, section
4(a)(4)(ii)-(iv) Additionally, it is DOE policy not to include in its
analysis any proprietary technology that is a unique pathway to
achieving a certain efficiency level. Section IV.A.4 of this document
discusses the results of the screening analysis for fluorescent lamp
ballasts, particularly the designs DOE considered, those it screened
out, and
[[Page 56544]]
those that are the basis for the standards considered in this proposed
determination. For further details on the screening analysis for this
proposed determination, see chapter 4 of the NOPD technical support
document (TSD).
2. Maximum Technologically Feasible Levels
When DOE considers amended standards for a type or class of covered
product, it must determine the maximum improvement in energy efficiency
or maximum reduction in energy use that is technologically feasible for
such a product. (42 U.S.C. 6295(p)(1)) Accordingly, in the engineering
analysis, DOE determined the maximum technologically feasible (``max-
tech'') improvements in energy efficiency for fluorescent lamp
ballasts, using the design parameters for the most efficient products
available on the market or in working prototypes. The max-tech levels
that DOE determined for this analysis are described in section IV.B of
this proposed determination and in chapter 5 of the NOPD TSD.
D. Energy Savings
1. Determination of Savings
For each efficiency level (EL) evaluated, DOE projected energy
savings from application of the EL to the fluorescent lamp ballast
purchased in the 30-year period that begins in the assumed year of
compliance with the potential standards (2023-2052). The savings are
measured over the entire lifetime of the fluorescent lamp ballasts
purchased in the previous 30-year period. DOE quantified the energy
savings attributable to each EL as the difference in energy consumption
between each standards case and the no-new-standards case. The no-new-
standards case represents a projection of energy consumption that
reflects how the market for a product would likely evolve in the
absence of amended energy conservation standards.
DOE used its NIA spreadsheet model to estimate national energy
savings (NES) from potential amended standards for fluorescent lamp
ballasts. The NIA spreadsheet model (described in section IV.G of this
document) calculates energy savings in terms of site energy, which is
the energy directly consumed by products at the locations where they
are used. For electricity, DOE reports NES in terms of both site and
source energy savings, which is the savings in the energy that is used
to generate and transmit the site electricity. DOE also calculates NES
in terms of full-fuel-cycle (FFC) energy savings. The FFC metric
includes the energy consumed in extracting, processing, and
transporting primary fuels (i.e., coal, natural gas, petroleum fuels),
and thus presents a more complete picture of the impacts of energy
conservation standards.\6\ DOE's approach is based on the calculation
of an FFC multiplier for each of the energy types used by covered
products or equipment. For more information on FFC energy savings, see
section IV.G of this document.
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\6\ The FFC metric is discussed in DOE's statement of policy and
notice of policy amendment. 76 FR 51282 (Aug. 18, 2011), as amended
at 77 FR 49701 (Aug. 17, 2012).
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2. Significance of Savings
In determining whether amended standards are needed, DOE must
consider whether such standards will result in significant conservation
of energy. (42 U.S.C. 6295(m)(1)(A)) In the Proposed Procedures for Use
in New or Revised Energy Conservation Standards and Test Procedures for
Consumer Products and Commercial/Industrial Equipment (``Proposed
Process Rule''), DOE recently proposed to define a significant energy
savings threshold. (84 FR 3910, February 13, 2019). Specifically, DOE
stated that it is considering using two step approach that would
consider both a quad threshold value and a percentage threshold value
to ascertain whether a potential standard satisfies 42 U.S.C.
6295(o)(3)(B) to ensure that DOE avoids setting a standard that ``will
not result in significant conservation of energy.'' 84 FR 3924. In a
subsequent Notice of Data Availability, DOE noted that because EPCA
uses a household energy consumption metric as a threshold for setting
standards for new covered products (42 U.S.C. 6295(l)(1)), DOE believes
that site energy would be the most appropriate metric for evaluating
energy savings across rulemakings. (86 FR 36037, July 26, 2019) As a
result, DOE provided national site energy savings data from its past
rulemakings for public comment to help inform DOE's decision regarding
whether (and how) to define a threshold for significant energy savings.
Consistent with this approach, in addition to source energy savings and
FFC energy savings, DOE's analysis presents site energy savings. In
addition, DOE's conclusions with respect to significance of energy
savings are based on site energy savings. DOE's updates to the Process
Rule have not yet been finalized.
E. Cost Effectiveness
In making a determination of whether amended energy conservation
standards are needed, EPCA requires DOE to consider the cost
effectiveness of amended standards in the context of the savings in
operating costs throughout the estimated average life of the covered
product compared to any increase in the price of, or in the initial
charges for, or maintenance expenses of, the covered product that are
likely to result from a standard. (42 U.S.C. 6295(m)(1)(A), (n)(2), and
(o)(2)(B)(i)(II))
In determining cost effectiveness of amending standards for
fluorescent lamp ballasts, DOE conducted LCC and PBP analyses to
evaluate the economic effects on individual consumers of potential
energy conservation standards for fluorescent lamp ballasts. To further
inform DOE's consideration of the cost effectiveness of amended
standards, DOE considered the NPV of total costs and benefits estimated
as part of the NIA. The inputs for determining the NPV of the total
costs and benefits experienced by consumers are (1) total annual
installed cost, (2) total annual operating costs (energy costs and
repair and maintenance costs), and (3) a discount factor to calculate
the present value of costs and savings.
F. Other Analyses
In addition, DOE conducted a MIA that determines the potential
economic impact of amended standards on FLB manufacturers.
The analyses employed by DOE in its consideration of each of the
criteria applied are discussed in the following sections.
IV. Methodology and Discussion of Related Comments
This section addresses the analyses DOE performed for this proposed
determination with regard to fluorescent lamp ballasts. Separate
subsections address each component of DOE's analyses. DOE used several
analytical tools to estimate the impact of potential energy
conservation standards. The first tool is a spreadsheet that calculates
the LCC savings and PBP of potential energy conservation standards. The
NIA uses a second spreadsheet set that provides shipments projections
and calculates NES and net present value of total consumer costs and
savings expected to result from potential energy conservation
standards. DOE uses the third spreadsheet tool, the Government
Regulatory Impact Model (GRIM), to assess manufacturer impacts of
potential standards. These three spreadsheet tools are available on the
website: https://
[[Page 56545]]
www.regulations.gov/docket?D=EERE-2015-BT-STD-0006.
A. Market and Technology Assessment
DOE develops information in the market and technology assessment
that provides an overall picture of the market for the products
concerned, including the purpose of the products, the industry
structure, manufacturers, market characteristics, and technologies used
in the products. This activity includes both quantitative and
qualitative assessments, based primarily on publicly available
information. The subjects addressed in the market and technology
assessment for this proposed determination include (1) a determination
of the scope and product classes, (2) manufacturers and industry
structure, (3) existing efficiency programs, (4) shipments information,
(5) market and industry trends, and (6) technologies or design options
that could improve the energy efficiency of fluorescent lamp ballasts.
The key findings of DOE's market assessment are summarized in the
following sections. See chapter 3 of the NOPD TSD for further
discussion of the market and technology assessment.
1. Scope of Coverage and Product Classes
Fluorescent lamp ballast means a device which is used to start and
operate fluorescent lamps by providing a starting voltage and current
and limiting the current during normal operation. 10 CFR 430.2. In this
analysis, DOE relied on the definition of ``fluorescent lamp'' in 10
CFR 430.2, which provides the specific lamp lengths, bases, and
wattages included by the term. Any product meeting the definition of
fluorescent lamp ballast is included in DOE's scope of coverage, though
all products within the scope of coverage may not be subject to
standards.
As part of its review of energy conservation standards for
fluorescent lamp ballasts, DOE also evaluated whether current standards
should be extended to additional fluorescent lamp ballasts.
Fluorescent lamp ballasts manufactured on or after November 14,
2014, that are designed and marketed to operate at an input voltage at
or between 120 volts (V) and 277 V, to operate with an input current
frequency of 60 hertz, and for use with fluorescent lamps as defined in
10 CFR 430.2, are currently required to comply with the energy
conservation standards at 10 CFR 430.32(m)(1).
Fluorescent lamp ballasts manufactured on or after November 14,
2014, that are designed and marketed to operate at an input voltage at
or between 120 and 277 V, to operate with an input current frequency of
60 hertz, for dimming to 50 percent or less of the maximum output of
the ballast, and to operate one or two F34T12 lamps, two F96T12 Energy
Saver (ES) lamps, or two F96T12 high output (HO) ES lamps are required
to comply with the energy conservation standards at 10 CFR
430.32(m)(2).
The following fluorescent lamp ballasts are exempt from standards:
(1) A dimming ballast designed and marketed to operate exclusively lamp
types other than one F34T12, two F34T12, two F96T12/ES, or two
F96T12HO/ES lamps; (2) a low frequency ballast that is designed and
marketed to operate T8 diameter lamps; is designed and marketed for use
in electromagnetic-interference-sensitive-environments only; and is
shipped by the manufacturer in packages containing 10 or fewer
ballasts; or (3) a programmed start ballast that operates 4-foot medium
bipin T8 lamps and delivers on average less than 140 milliamperes (mA)
to each lamp. 10 CFR 430.32(m)(3).
In the Framework document, DOE considered extending the scope of
standards to the following: (1) All dimming ballasts, (2) 4-foot T8 MBP
programmed start (PS) ballasts with an average current less than 140
mA, and (3) ballasts that operate on an input voltage of 480 V. DOE did
not consider extending the scope of standards to low frequency ballasts
that are designed and marketed to operate T8 diameter lamps and for use
in electromagnetic-interference-sensitive-environments (EMI-sensitive-
environments) only.
DOE received several general comments on its consideration of
extending standards to additional fluorescent lamp ballasts. Philips
noted that such consideration should account for the declining ballast
market that is reducing annually by about 20 percent. (Philips, No. 8
at p. 16) NEMA noted that no new products or categories of ballasts are
under development. (NEMA, No. 12 at p. 5) However, CA IOUs stated that
DOE has the opportunity to capture significant energy savings for
fluorescent lamp ballasts by expanding the scope of standards to
previously exempted products (e.g., dimming ballasts). CA IOUs
recommended that DOE evaluate the market and utility for ballasts used
in EMI environments, ballasts that operate at input voltages of 480 V,
and low-current PS ballasts to determine if exemptions for these
products are still warranted. (CA IOUs, No. 10 at p. 1) The Appliance
Standards Awareness Project (ASAP) similarly stated that DOE should
consider expanding the scope of standards to include other fluorescent
lamp ballasts to avoid potential loopholes. (ASAP, No. 7 at p. 3)
Lutron noted that because light-emitting diode (LED) technology is
still new and already more efficacious than fluorescent technology, it
is premature to subject LED drivers to standards. (Lutron, No. 9 at p.
3)
DOE conducted an assessment of whether standards should be extended
to certain fluorescent lamp ballasts that are not currently subject to
standards. DOE also evaluated whether current exemptions from standards
should be maintained. DOE notes that this proposed determination
addresses only fluorescent lamp ballasts and not any other technology
such as LED drivers. The following sections discuss DOE's consideration
of extending the scope of standards to additional fluorescent lamp
ballasts.
a. Dimming Ballasts
Currently, only certain dimming ballasts are subject to
standards.\7\ In the Framework document, DOE stated it would consider
extending standards to all dimming ballasts. Several stakeholders did
not support DOE considering standards for all dimming ballasts.
Universal Lighting Technologies (ULT) asserted that energy savings from
improving the efficiency of dimming ballasts were likely to be smaller
than energy savings from the use of controls in a space. (ULT, No. 6 at
p. 2) NEMA stated that its business market survey data indicated that
dimming ballasts are about 2.29 percent of the linear FLB market.
(NEMA, No. 12 at pp. 3-4) Philips stated that while the fixed output
ballast market has declined overtime and dimming ballasts have become a
larger portion of the overall mix, in absolute numbers, dimming
ballasts have not increased as indicated by NEMA's market data from the
past 12 quarters. Further, Philips noted that it will be difficult to
justify costs to improve efficiency of dimming ballasts over investment
in solid-state lighting (SSL) development. (Philips, No. 8 at pp. 10-
11) NEMA, Philips, and ULT indicated that the dimming ballast market
will shrink due to the penetration of solid-state lighting. (ULT,
[[Page 56546]]
No. 6 at p. 2; Philips, No. 8 at pp. 10-11; NEMA, No. 12 at p. 4)
---------------------------------------------------------------------------
\7\ Fluorescent lamp ballasts manufactured on or after November
14, 2014, that are designed to operate at an input voltage at or
between 120 and 277 V and with an input current frequency of 60
hertz, for dimming to 50 percent or less of the maximum output of
the ballast, and to operate one or two F34T12 lamps, two F96T12 ES
lamps, or two F96T12 HO ES lamps. 10 CFR 430.32(m)(2)
---------------------------------------------------------------------------
Several stakeholders expressed support for DOE analyzing standards
for all dimming ballasts. ASAP requested that DOE consider standards
for fluorescent lamp ballasts capable of dimming below 50 percent of
full output, and to include digitally addressable or networkable
ballasts. (ASAP, No. 7 at p. 2) ASAP and CA IOUs stated that the
California Title 24 (CA Title 24 \8\) building code will greatly
increase sales of ballasts capable of dimming below 50 percent of full
light output, which currently are not subject to DOE standards.
Therefore, ASAP and CA IOUs stated that the majority of ballasts
purchased for new construction projects (as well as some retrofit
projects according to CA IOUs) in California will not be regulated by
DOE. (CA IOUs, No. 10 at p. 2; ASAP, No. 7 at p. 2; CA IOUs, Public
Meeting Transcript, No. 5 at p. 106) ASAP added that it expects that
these changes in California will occur across the country as new
dimming ballasts become more widely available. (ASAP, No. 7 at p. 2)
---------------------------------------------------------------------------
\8\ California Energy Commission. 2013 Building Energy
Efficiency Standards for Residential and Nonresidential Buildings.
CEC[hyphen]400[hyphen]2012[hyphen]004-CMF-REV2. Sacramento, CA: CEC,
2012. Available at https://www.energy.ca.gov/2012publications/CEC-400-2012-004/CEC-400-2012-004-CMF-REV2.pdf.
---------------------------------------------------------------------------
However, ULT and NEMA asserted that PS fixed output ballasts that
are controlled by occupancy sensors or other control devices can meet
the requirements of California building codes and ASHRAE standards
(when adopted) and are already covered by DOE standards. ULT added that
outside of a specific room (e.g., conference room) a continuously
dimmed product is not necessary. Further, ULT noted that solid-state
lighting already comes standard with the ability to continuously dim.
(ULT, No. 6 at p. 2; NEMA, No. 12 at p. 4)
DOE appreciates the feedback regarding the shipment trends of
fluorescent lamp ballasts as a whole and that of dimming ballasts.
However, DOE has observed that since the 2011 FL Ballast Rule, product
offerings of dimming ballasts have increased. DOE's review of
manufacturer catalogs indicates a wide range of dimming ballast
products are now available for use with several lamp types.\9\ Further,
DOE has observed a range of efficiencies for dimming ballasts,
indicating that less efficient products can be improved. Additionally,
as noted by stakeholders, state and local regulations and building
codes with increased dimming and/or lighting control requirements
(e.g., CA Title 24 and ANSI/ASHRAE/IES Standard 90.1-2016 \10\) will
continue to support installation of dimming ballasts in the near
future. Therefore, DOE considers that standards for dimming ballasts
could result in potential energy savings.
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\9\ Specifically, 4-foot MBP lamps, 2-foot U-shaped lamps, 4-
foot MiniBP SO lamps, and 4-foot MiniBP HO lamps.
\10\ American Society of Heating, Refrigerating, and Air-
Conditioning Engineers. ANSI/ASHRAE/IES Standard 90.1-2016--Energy
Standard for Buildings Except Low-Rise Residential Buildings.
Atlanta, GA: ASHRAE, 2016.
---------------------------------------------------------------------------
Lutron and NEMA stated that regulations on dimming ballast
efficiency may reduce their availability and may limit potential energy
savings from dimming systems. (Lutron, No. 9 at p. 2; NEMA, No. 12 at
pp. 3-4) Lutron agreed with extending standards to dimming ballasts if
the standards accommodate functionality and features of dimming
ballasts when used in an intelligent light system, noting that these
systems will result in more energy savings than improving the
efficiency of dimming ballasts. (Lutron, No. 9 at p. 2)
In evaluating potential standards, DOE's analysis contemplates that
performance characteristics (including reliability), features, sizes,
capacities, and volumes available to the consumer would remain
available at improved efficiencies of the product.
In summary, in this analysis DOE considered standards for dimming
ballasts and presents the results of an analysis of the technological
feasibility, energy savings, and cost effectiveness of standards for
dimming ballasts.
b. Ballasts Operating at 480 V
Currently only fluorescent lamp ballasts designed and marketed to
operate at nominal input voltages at or between 120 and 277 V are
subject to standards. 10 CFR 430.32(m)(1)(i), (2)(i). ASAP requested
that DOE change the scope of current standards to include ballasts that
operate at 120 V to 480 V. (ASAP, No. 7 at p. 3) However, ULT, General
Electric (GE), and NEMA stated that the market for ballasts that
operate at 480 V is very small, and regulation of these products would
not result in a lot of energy savings. (GE, Public Meeting Transcript,
No. 5 at p. 38; ULT, No. 6 at p. 3; NEMA, No. 12 at p. 5) Philips
agreed and noted that current standards cover the vast majority of the
market by regulating ballasts that operate at input voltages of 120 V
to 277 V. (Philips, No. 8 at pp. 11-12)
ASAP and CA IOUs raised concerns that even if the market for these
products is small, they may become a loophole in industrial
applications because fluorescent technology has been replacing high-
intensity discharge (HID) lighting in high bay applications that are
often on 377 V or 480 V circuits. They encouraged DOE to determine if
this shift to fluorescent technology, particularly in the retrofit
market, will continue to increase in the future. (ASAP, No. 7 at p. 3;
CA IOUs, No. 10 at p. 10)
ULT stated that ballasts that operate at 480 V are typically used
in the industrial applications that function on highly transient power
(i.e., ``dirty power''). ULT and NEMA stated that these ballasts have
added circuitry to ensure that they can withstand high transient lines,
which also makes them expensive. (ULT, Public Meeting Transcript, No. 5
at p. 37; ULT, No. 6 at p. 3; NEMA, No. 12 at p. 5) GE added that
because these ballasts are niche products, manufacturers would not
expend time and effort to redesign them. (GE, Public Meeting
Transcript, No. 5 at p. 38) NEMA asserted that if regulated they would
become obsolete. (NEMA, No. 12 at p. 5)
When considering extending coverage to additional ballasts, DOE
considers whether potential energy conservation standards for these
products would result in significant energy savings. In the 2011 FL
Ballast Rule, DOE examined the ballast market and found input voltages
of 120 V to 277 V to be common to the U.S. market. Ballasts outside
this range were primarily designed for foreign markets, such as 347 V
ballasts for the Canadian market. 76 FR 70548, 70559. In this analysis,
based on DOE's review of manufacturer catalogs, fluorescent lamp
ballasts designed to operate at 120 V to 277 V remain the most common,
and product offerings for ballasts designed to operate at voltages
higher than 277 V were minimal. Further, based on manufacturer feedback
and DOE research, a shift from HID to fluorescent technology will
likely be minor as SSL technology continues to penetrate the lighting
market.\11\ Based on DOE's assessment, standards for fluorescent lamp
ballasts operating at 480 V would not likely result in significant
energy savings. Hence, DOE is not considering extending the scope of
standards to fluorescent lamp ballasts designed and marketed to operate
at voltages higher than 277 V.
---------------------------------------------------------------------------
\11\ There was no increase in shift from HID technology to
fluorescent technology in high-bay applications from 2012 to 2014
according to the DOE Adoption of Light-Emitting Diodes in Common
Lighting Applications. Available at https://energy.gov/sites/prod/files/2015/07/f24/led-adoption-report_2015.pdf.
---------------------------------------------------------------------------
[[Page 56547]]
c. Low-Current PS Ballasts
Currently DOE exempts from standards a PS ballast that operates 4-
foot T8 MBP lamps and delivers on average less than 140 milliamperes
(mA) to each lamp (i.e., low-current PS ballast). 10 CFR
430.32(m)(3)(iii). In the Framework document, DOE stated it will
reevaluate the justification for this exemption. (Framework Document,
No. 1 at p. 13)
NEMA, ULT, and GE stated that DOE should continue to exempt low-
current PS ballasts from standards as they are a niche market. (ULT,
Public Meeting Transcript, No. 5 at p. 37; NEMA, No. 12 at p. 5; GE,
Public Meeting Transcript, No. 5 at p. 38; Philips, No. 8 at p. 11) ULT
added that energy savings from standards would be offset by those
resulting from the low light output. (ULT, Public Meeting Transcript,
No. 5 at pp. 35-36)
ASAP raised concerns that low-current PS ballasts may become a
loophole in the future as they could serve as a low-cost option in
markets for inefficient equipment. (ASAP, Public Meeting Transcript,
No. 5 at p. 33) ULT responded that to operate at a low ballast factor,
a ballast must have an open current voltage, flicker control, as well
as cathodes, all of which add cost to such products. (ULT, Public
Meeting Transcript, No. 5 at pp. 35-36)
Further, NEMA and ULT stated that if regulated, these products
would not comply with DOE efficiency standards and become obsolete as
their low volume would not warrant redesign, eliminating a unique
utility. (NEMA, No. 12 at p. 5; ULT, No. 6 at p. 3) ASAP and CA IOUs
stated that the unique utility of low-current PS ballasts is unclear.
(ASAP, No. 7 at p. 3; CA IOUs, No. 10 at p. 10) ASAP stated that there
are multiple more-efficient lamp-and-ballast combinations available on
the market that can provide light output comparable to low-current PS
ballast systems. (ASAP, No. 7 at p. 3) CA IOUs suggested alternatives
such as using reduced-wattage lamps or fewer lamps and/or fixtures as
efficient replacements. However, CA IOUs stated that if DOE does find
the low-current PS ballasts have a unique utility, DOE should ensure
that they are operating as efficiently as possible. (CA IOUs, No. 10 at
p. 10)
During the 2011 FL Ballast Rule, DOE determined that ballasts
designed to operate 4-foot T8 MPB lamps are required to use some level
of cathode power when operating lamps at currents less than 155 mA to
maintain lamp life. Through testing, DOE learned the ballast factor of
these ballasts was similar to or less than 0.7, offering a unique
utility of low light output. Such ballasts also offered energy savings
from their low power levels and use with occupancy sensors. However,
DOE concluded that, because BLE decreases as current is decreased, none
of the PS ballasts tested with an average current of less than 140 mA
were able to meet the maximum efficiency levels analyzed in the PS
product class. Therefore, DOE exempted these low-current PS ballasts
from standards. 76 FR 70548, 70558.
In this analysis, DOE evaluated whether DOE should continue to
maintain the exemption of low-current PS ballasts. DOE has tentatively
determined that alternative options such as using PS ballasts with
operating current at 140 mA or higher, paired with reduced-wattage
lamps or decreasing the number of lamps in the system could provide low
light output levels comparable to those attained using low-current PS
ballasts. DOE identified lamp-and-ballast replacements that maintained
system light output within 10 percent of a lamp-and-ballast system
using a low-current PS ballast and saved energy.
Because there are reasonable alternatives to providing the low
light output utility offered by low-current PS ballasts, the low-light
feature provided may no longer be unique to these products as when DOE
evaluated them for the 2011 Ballast Rule. As such, DOE included in its
current analysis potential standards for PS ballasts that operate 4-
foot T8 MBP lamps and deliver on average less than 140 mA to each lamp.
d. Low Frequency EMI Ballasts
Currently DOE exempts low frequency ballasts designed and marketed
to operate T8 diameter lamps for use in EMI environments only (``low
frequency EMI ballasts''). They must be shipped by the manufacturer in
packages containing 10 or fewer ballasts. 10 CFR 430.32(m)(3)(ii) For
applications in which EMI has been or is expected to pose safety
concerns, magnetic ballasts that operate at low frequency are typically
recommended. Because these EMI-related safety concerns still exist, in
the Framework document, DOE stated it did not plan to remove this
exemption.
NEMA, GE, ULT, and Philips agreed that low frequency EMI ballasts
should not be subject to standards. (ULT, No. 6 at p. 3; Philips, No. 8
at p. 12; NEMA, No. 12 at p. 5; GE, Public Meeting Transcript, No. 5 at
p. 43) GE added that these are a low volume, niche product and the best
solution for EMI-sensitive environments. (GE, Public Meeting
Transcript, No. 5 at p. 43) ASAP stated that the exemption of these
ballasts made sense to the extent that EMI from technology continues to
be a concern. (ASAP, Public Meeting Transcript, No. 5 at pp. 42-43)
In the 2011 FL Ballast Rule, DOE conducted research and interviews
with FLB and fixture manufacturers to identify several applications as
potentially sensitive to EMI. Applications potentially sensitive to EMI
include but are not limited to medical operating room telemetry or life
support systems, airport control systems, electronic test equipment,
radio communication devices, radio recording studios, correctional
facilities, clean rooms, facilities with low signal-to-noise ratios,
and aircraft hangars or other buildings with predominantly metal
construction. 76 FR 70548, 70557. In this analysis, DOE tentatively
finds that EMI from fluorescent lamp ballasts continues to be a safety
concern.
ASAP asked for more information regarding the definition of EMI-
sensitive environments, Federal Communications Commission's (FCC's)
authority on this issue, and the method of sales and shipment to
restrict leakage of EMI-labeled product into other applications. (ASAP,
Public Meeting Transcript, No. 5 at pp. 42-43) FCC in 47 CFR part 18
regulates industrial, scientific, and medical (ISM) equipment that
emits electromagnetic energy on frequencies within the radio frequency
spectrum in order to prevent harmful interference to authorized radio
communication services. 47 CFR 18.101. Falling under the category of
radio frequency lighting devices, fluorescent lamp ballasts would be
subject to certain conduction limits. 47 CFR 18.307(c). (The Department
of Defense (DoD) also has its own EMI requirements.\12\) The FCC should
be consulted for further information on regulating products that emit
electromagnetic energy.
---------------------------------------------------------------------------
\12\ The DoD MIL-STD-461G section CE102 applies to conducted
emissions from power leads between 10 kilohertz (kHz) and 10
megahertz (MHz) while the standards in section RE102 apply to
radiated emissions between 10 kHz and 18 gigahertz (GHz). These
standards establish ``interface and associated verification
requirements for the control of the EMI emission and susceptibility
characteristics of electronic, electrical, and electromechanical
equipment and subsystems designed or procured for use by activities
and agencies of the Department of Defense (DoD).''
---------------------------------------------------------------------------
ASAP stated DOE should examine the full range of existing low EMI,
energy efficient fluorescent lamp technology options. (ASAP, No. 7 at
p. 4) CA IOUs stated instead of magnetic ballasts designed and labeled
specifically for use in EMI-sensitive environments,
[[Page 56548]]
consumers can use ``hybrid'' magnetic/electronic ballasts and remote-
mounted electronic ballasts, as well as LED light sources. CA IOUs
encouraged DOE to reconsider the need for these less efficient products
when alternatives are available. (CA IOUs, No. 10 at p. 10)
The source of EMI in a fluorescent lamp-and-ballast system consists
mainly of switching components (transistors) in the ballast and the
fluorescent lamp and lead wires. In high-frequency electronic ballasts,
switching components create rapidly changing electric fields eventually
resulting in interference with other circuits on the line. Low-
frequency magnetic ballasts do not have switching components,
dramatically reducing EMI generation. Additionally, lamp and lead wires
create a loop that in the presence of a rapidly switching alternating
current (AC) waveform creates an antenna for radiated EMI. This
phenomenon is more pronounced with electronic ballasts compared to
magnetic ballasts. For these reasons, magnetic ballasts are typically
recommended for use in EMI-sensitive environments.
In the 2011 FL Ballast Rule, DOE examined alternative options such
as use of external EMI filters with electronic ballasts as well as
shielding the ballast with conductive material to mitigate the effects.
However, DOE could not confirm that such methods would definitely
prevent issues related to EMI. In this analysis, DOE again researched
alternative options. In general, DOE found limited product offerings
for hybrid magnetic/electronic ballasts and remote-mounted electronic
ballasts. DOE's research indicated that the hybrid magnetic/electronic
ballasts would not meet existing efficiency standards. Further remote-
mounted electronic ballasts would require separate fixtures for the
lamp and for the ballast and require installation of additional
components such as EMI shielding on the leads and ferrite clamp on the
output wires to safeguard against EMI issues.\13\ While the typical LED
systems in which AC power is converted to DC would cause the same EMI
issues as electronic ballasts, direct DC-powered LED systems do have
the potential to mitigate EMI issues. However, these also would require
a fixture change. Further, because these products are not designed
specifically for EMI-sensitive applications, it is not clear that they
adequately mitigate the effects of EMI.
---------------------------------------------------------------------------
\13\ Philips states remote mounting impacts EMI behavior and
additional measures may be necessary to reduce EMI:
https://images.philips.com/is/content/PhilipsConsumer/PDFDownloads/United%20States/ODL20160330_001_UPD_en_US_PAd-1615DG_Advance_Xitanium_Indoor_Driver_20160324.pdf#page=5.
---------------------------------------------------------------------------
ASAP stated that because residential ballasts are subject to less
stringent energy efficiency standards than commercial ballasts due to
being subject to more stringent FCC EMI requirements, DOE should at
least subject the low frequency EMI ballasts to the current residential
FLB energy efficiency standards. (ASAP, No. 7 at p. 4)
DOE's evaluation indicates that magnetic ballasts continue to not
meet existing standards, including those for residential ballasts.
ASAP also stated that DOE should evaluate if it is necessary to
further limit the language ``designed, labeled, and marketed for use in
EMI-sensitive environments only'' used to specify the exemption as it
creates a significant opportunity for low EMI, low price, and energy
inefficient ballasts to gain significant market share. ASAP encouraged
DOE to collect sales data on ballasts specified as low EMI and intended
for commercial use. (ASAP, No. 7 at pp. 3-4; ASAP, Public Meeting
Transcript, No. 5 at p. 43) Philips stated that EMI environments are
very specific (e.g., nuclear power plants, military bases) and because
of the low volume, these ballasts are more expensive. Therefore, it is
unlikely that they would start replacing electronic ballasts or LED
technology with low frequency EMI ballasts. (Philips, Public Meeting
Transcript, No. 5 at pp. 43-44)
DOE currently describes the exemption as ``A low frequency ballast
that is designed and marketed to operate T8 diameter lamps; is designed
and marketed for use in EMI environments only; and is shipped by the
manufacturer in packages containing 10 or fewer ballasts.'' 10 CFR
430.32(m)(3)(ii) DOE finds that because the definition requires the
application to be stated in all publicly available documents and caps
the amount of ballasts sold in one package, it is a sufficient
deterrent to potential unintended use of these ballasts. Further, based
on a review of manufacturer catalogs, DOE did not find a substantial
number of magnetic ballasts designed and marketed for use in EMI-
sensitive environments only, which might have indicated an increasing
market share.
Because magnetic ballasts are the only option that can definitively
address safety concerns regarding EMI and they do not meet existing
standards, DOE is not considering removing the current exemption for
low frequency EMI-sensitive ballasts.
2. Metric
a. Active Mode Energy Consumption
Current energy conservation standards for fluorescent lamp ballasts
are applicable to active mode energy use and are based on BLE. This
metric is a ratio of the power provided by the ballast to the lamp
divided by the input power to the ballast. The metric also includes an
adjustment factor to account for the reduced system efficacy associated
with operation at low-frequency (i.e., 60 Hertz). DOE continues to use
the BLE metric in this proposed determination to assess active mode
energy use.
DOE received comments recommending it adopt a weighted BLE metric
for dimming ballasts. CA IOUs stated that they had supported California
Energy Commission (CEC) in developing Title 20 state appliance energy
efficiency standards for fluorescent lamp ballasts and strongly
suggested DOE take this analysis into consideration in this effort. (CA
IOUs, No. 10 at p. 2) CA IOUs stated that dimming ballasts have a large
potential for energy savings because not all products dim the same way,
and prior to the CEC rule regarding dimming ballasts, there was no
description of ballast performance at dimmed settings. (CA IOUs, Public
Meeting Transcript, No. 5 at pp. 72-73)
Due to this lack of data, CA IOUs tested dimming ballasts to
understand performance below full light output using the DOE's test
procedure for fixed output ballasts. (These data are publicly available
in CEC's rulemaking docket: #14-AAER-1.) Specifically, CA IOUs tested
34 T8 dimming ballasts that operate from one lamp up to four lamps,
which were selected from 180 T8 dimming ballasts listed by the
Consortium for Energy Efficiency (CEE) as qualifying commercial
lighting products. In addition they tested seven T5 dimming ballasts
that operate two lamps. CA IOUs stated that this testing, while not
comprehensive of the full market, was a good starting point. CA IOUs
measured the performance of dimming ballasts at 100 percent full output
and then at input powers decreasing by 5 percent increments until
reaching zero light output using DOE's current test procedure. Based on
these data, CA IOUs noted that ballasts that have the same efficiency
at full light output may not perform the same at lower light output
levels. For instance, two ballasts may have the same performance at
full light output, but may have a 3-5 W difference in power consumption
at 50 percent of full output. (CA IOUs, No. 10 at pp. 2-3, 8;
[[Page 56549]]
CA IOUs, Public Meeting Transcript, No. 5 at pp. 17, 54)
Because of this difference in efficiency at lower light outputs, CA
IOUs stated that CEC has proposed standards for dimming fluorescent
lamp ballasts based on weighting the ballast efficiency measurements at
100 percent, 80 percent, and 50 percent of full arc power in order to
generate one BLE value. CA IOUs stated that 80 percent is a typical
setting when tuning light and a built-in assumption for savings in
certain utility lighting programs, and 50 percent is a representative
operating setting for bi-level dimming ballasts. CA IOUs also stated
that these levels were established after consulting with major FLB
manufacturers and stakeholders who agreed that accurate and repeatable
measurements could be taken at each of those operating levels. CA IOUs
stated that DOE consider using these two points but supported
additional test points below 50 percent of full light output and
recommended DOE conduct further analysis on the feasibility of
measurements at lower output levels. (CA IOUs, No. 10 at pp. 2-3; CA
IOUs, Public Meeting Transcript, No. 5 at pp. 17, 54) ASAP agreed with
CA IOUs that the test procedure and metric should be amended to measure
BLE at partial light output for dimming ballasts, specifically testing
at 80 and 50 percent of full light output in addition to 100 percent.
(ASAP, No. 7 at pp. 2-3)
The efficiency of a dimming ballast may differ at different light
outputs, and the efficiency at full light output may not reflect the
efficiency at which the ballast always performs in application.
However, DOE notes several issues with the accuracy and consistency in
determining the performance of dimming ballasts using a weighted metric
approach. First, the lack of conclusive data makes it difficult to
determine the appropriate weightings to assign to reduced light output
levels to reflect the most common use of dimming ballasts. For example,
the weightings proposed by CEC are based on approximate average energy
savings of dimming ballasts determined from a study on energy savings
from institutional tuning including the use of dimming ballasts and
switches (i.e., light levels adjusted based on location-specific needs
or building policies).\14\ This study determines energy savings for one
scenario of dimming ballast usage and is not necessarily representative
of the common application nor actual operating hours of these products.
---------------------------------------------------------------------------
\14\ Williams, Alison, Barbara Atkinson, Karina Garbesi, and
Francis Rubinstein. A Meta-Analysis of Energy Savings from Lighting
Controls in Commercial Buildings. Ernest Orlando Lawrence Berkeley
National Laboratory. September 2011.
---------------------------------------------------------------------------
Second, as data provided by CA IOUs show, there is no consistent
trend between efficiency and light output at lower levels across
products. Manufacturers apply a range of acceptable cathode powers at
lower currents and choose to do so through various techniques (i.e.,
step, gradual) resulting in varied performance at lower light output
levels. The range of acceptable cathode powers for T8 fluorescent
dimming systems is provided by NEMA LL 9,\15\ and both ballast and lamp
manufacturers design their products accordingly. Hence, the cathode
power required by a lamp may vary by lamp manufacturer. A manufacturer
who produces both ballasts and lamps may design both products to
provide/use the minimum amount of cathode heat. However, a manufacturer
who produces only ballasts may design their product to provide the
maximum amount of cathode heat so that it can operate all lamps
available on the market. DOE finds that it is important to allow for
this flexibility in designing ballasts and a metric should not favor
one approach over another.
---------------------------------------------------------------------------
\15\ NEMA LL 9-2011, Dimming of T8 Fluorescent Lighting Systems
(approved April 12, 2011).
---------------------------------------------------------------------------
Hence, it is unclear if a weighted BLE metric would be an accurate
representation of dimming ballasts in application or provide an
approach for appropriately measuring performance across dimming
products. Therefore, DOE evaluates the efficiency of dimming ballasts
as the BLE at full light output, which reflects the most energy
consumptive state. Measuring BLE at full light output ensures the
accuracy of measured values and provides a consistent basis for
comparing efficiencies across fluorescent lamp ballasts. DOE seeks
comments on its evaluation of the efficiency of dimming ballasts as BLE
at full light output. See section VII.C for a list of issues on which
DOE seeks comment.
For dimming ballasts, Philips recommended a ballast efficiency
metric that would include cathode power as opposed to the BLE metric
which does not. Philips explained that to dim light output the lamp
power and thereby cathode power is reduced. To prevent the resulting
possibility of shortening lamp life and unstable lamp operation, most
dimming ballasts utilize added cathode power in dimming mode. Philips
presented an example of a 2L T8 MBP 32 W ballast showing that at full
light output BLE and ballast efficiency are the same but at lower light
output levels, ballast efficiency is higher because it includes total
lamp arc power plus cathode power while BLE includes total lamp arc
power. Philips concluded that using the BLE metric at lower light
output levels would underrepresent the efficiency of the ballast.
(Philips, No. 8 at pp. 16-29) Therefore, Philips asserted and NEMA
agreed that including cathode power in the metric is important because
it provides utility to dimming ballasts at lower light output levels.
(Philips, No. 8 at pp. 16-29; NEMA, No. 12 at p. 7) Philips noted that
measuring ballast efficiency would require more measurements, but
testing time could be reduced with the use of a multiport power
analyzer. (Philips, No. 8 at pp. 16-29)
Because DOE is using a metric of BLE measured at full light output
for dimming ballasts, the exclusion of cathode power from this
measurement would not underrepresent the efficiency of dimming ballasts
operating at lower light output levels. DOE is aware that the BLE
metric represents cathode power as a loss and that ballasts that use
cathode power will therefore appear less efficient than ballasts that
do not. DOE accounts for this potential difference in efficiency by
establishing separate product classes based on starting method. 10 CFR
430.32(m)(1)(ii)(B).
Philips also commented that the use of dimming ballasts is
different than fixed output ballasts because they are always part of a
lighting control system, whether or not it is a simple control. Philips
stated that if dimming ballasts are required to use less energy, then
to meet such requirements manufacturers will move control and
communications designs from within the ballast to a separate extender
box. Hence, while the ballast may be more efficient, the total
efficiency of the system may not increase. Therefore, Philips suggested
that DOE consider the entire system as opposed to only the ballast
efficiency in its analysis. (Philips, Public Meeting Transcript, No. 5
at p. 119)
The scope of this proposed determination is fluorescent lamp
ballasts and not an entire fluorescent lighting system. DOE finds that
BLE adequately captures the efficiency of all fluorescent lamp
ballasts. DOE does analyze energy use of the lamp-and-ballast system
and uses this assessment of system energy use in its downstream
analyses (i.e., LCC, NIA, etc.).
CA IOUs stated that it is likely that their analysis of
efficiencies of dimming ballasts in the dimming range below 140 mA will
also be useful in understanding the cathode heating needs and
determining appropriate standard levels
[[Page 56550]]
for fixed-output, low current ballasts. (CA IOUs, No. 10 at p. 10)
DOE appreciates the data provided by CA IOUs. As noted, DOE
evaluates all fluorescent lamp ballasts in this analysis based on BLE
measured at full light output.
b. Standby Mode Energy Consumption
EPCA requires energy conservation standards adopted for a covered
product after July 1, 2010, to address standby mode and off mode energy
use. (42 U.S.C. 6295(gg)(3)) EPCA defines active mode as the condition
in which an energy-using piece of equipment is connected to a main
power source, has been activated, and provides one or more main
functions. (42 U.S.C. 6295)(gg)(1)(A)(i)) Standby mode is defined as
the condition in which an energy-using piece of equipment is connected
to a main power source and offers one or more of the following user-
oriented or protective functions: Facilitating the activation or
deactivation of other functions (including active mode) by remote
switch (including remote control), internal sensor, or timer; or
providing continuous functions, including information or status
displays (including clocks) or sensor-based functions. (42 U.S.C.
6295)(gg)(1)(A)(iii)) Off mode is defined as the condition in which an
energy-using piece of equipment is connected to a main power source,
and is not providing any standby or active mode function. (42 U.S.C.
6295)(gg)(1)(A)(ii))
In the 2009 Standby Test Procedure, DOE determined that fluorescent
lamp ballasts do not exhibit off mode energy use. In addition, DOE
stated that the only ballasts subject to standby mode power
measurements would be those that incorporate some electronic circuit
enabling the ballast to communicate with and be part of a lighting
control system (e.g., a digitally addressable lighting interface,
DALI). 74 FR 54445, 54448.
Based on DOE's characterization of ballasts capable of operating in
standby mode in the 2009 Standby Test Procedure, NEMA and Philips
concluded that DOE considers ballasts capable of operating in standby
mode as digitally controlled ballasts, such as DALI. (NEMA, No. 12 at
p. 3; Philips, No. 8 at pp. 5-6) ULT and NEMA stated that DALI ballasts
are mostly used in conference rooms for atmospheric lighting and are
shrinking in market size. They stated that the most common linear
fluorescent lamp ballasts are operated as discrete devices from a
centralized control panel that sends on/off and dimming commands and do
not operate in standby mode. Further, ULT and NEMA asserted that 99
percent of the ballasts in the scope of this analysis do not operate in
standby mode. (ULT, No. 6 at p. 2; NEMA, No. 12 at pp. 2-3) Lutron
noted that DALI is not the only communication protocol used in ballasts
capable of standby mode power consumption. (Lutron, Public Meeting
Transcript, No. 5 at p. 49)
ASAP stated DOE should include digitally addressable or networkable
ballasts and consider the associated standby losses of these products.
ASAP expected dimming ballasts with digital control will be part of
luminaire level lighting control, which involves independently
controlling each luminaire in a space through integrated, programmable,
network sensors. ASAP added that in such scenarios while the ballast
may reduce active mode power consumption, it may also continue to
consume power when switched ``off'' and not emitting light. Therefore,
ASAP recommended that DOE should consider both standby losses and the
benefits of increased controllability in its consideration of coverage
for additional dimming ballasts. ASAP advised DOE to develop a better
definition for ``network standby.'' (ASAP, No. 7 at p. 2) Additionally,
CA IOUs recommended that DOE amend its standby mode test procedure to
specify that a communications network (if applicable) should be
connected to the ballast during testing to capture energy use in
``network standby.'' CA IOUs stated that this is important because
ballasts will likely be consuming additional energy while actively
``listening'' for commands when connected to a communications network.
(CA IOUs, No. 10 at p. 3)
NEMA stated that it is not easy to define a power consumption
standard for a networked product because the standby and full mode
power consumptions will vary based on the particular design and extent
of functionality. (NEMA, Public Meeting Transcript, No. 5 at pp. 49-50)
NEEA agreed with NEMA but noted that DOE would likely have to look at
network standby if it decides to regulate dimming ballasts. (NEEA,
Public Meeting Transcript, No. 5 at p. 50) Philips stated that DOE's
determination of ballasts capable of operating in standby mode prevents
conflict with other modes of operation defined in standards such as IEC
62301, which distinguishes between standby mode power and network mode
power. (Philips, No. 8 at pp. 5-7) Philips also recommended that DOE
develop a standby mode power test method that accounts for the wide
range of input voltages. (Philips, No. 8 at p. 8)
EPCA requires DOE to address the standby mode consumption of a
product. (42 U.S.C. 6295(gg)(3)) Based on DOE's definition of standby
mode, DOE continues to consider a ballast is in standby mode if it has
some electronic circuit enabling the ballast to communicate with and be
part of a lighting control system and if at zero light output the
ballast is standing by, connected to a main power source without being
disconnected by an on/off switch or other type of relay. 74 FR 54445,
54448. Therefore, standby mode energy consumption of a ballast
encompasses any communication by the ballast at zero light output. DOE
finds that additional definitions to capture communication through
specific types of protocols or systems (i.e., network) are not
necessary.
CA IOUs stated standby mode power constitutes a significant portion
of the overall dimming ballast annual energy use and noted that CEC
proposed a separate standard for standby mode power consumption for
dimming ballasts. (CA IOUs, No. 10 at p. 4) CA IOUs reported that
testing done according to DOE's test procedure showed dimming ballasts
to have standby mode power consumption ranging from 0.3 to 1.9 W. (CA
IOUs, Public Meeting Transcript, No. 5 at pp. 15-16) ASAP supported CA
IOUs comments recommending testing of standby mode energy consumption
of ballasts similar to that proposed by CEC. (ASAP, No. 7 at p. 3)
NEMA and Philips noted that standby power energy use in the U.S.
lighting industry varies greatly due to the wide range of functionality
provided by digital ballasts. (NEMA, No. 12 at p. 3; Philips, No. 8 at
p. 8) NEMA cautioned against overly restrictive limits on standby
power, as they could reduce consumer-demanded functionality and DOE
should note that lighting may become the point of connection for smart
products. (NEMA, Public Meeting Transcript, No. 5 at pp. 49-50; NEMA,
No. 12 at p. 3)
DOE tentatively finds in this analysis that a separate standard for
standby power is unnecessary. Currently FLB standards for active mode
are based on BLE, which is a ratio of the power provided by the ballast
to the lamp divided by the input power to the ballast. DOE finds that
for ballasts that are capable of standby mode operation, the
measurement of input power for BLE in active mode would include standby
mode power. Thus, DOE finds that energy conservation standards based on
measuring the BLE of the
[[Page 56551]]
ballast in active mode also capture the energy consumption in standby
mode, where applicable. Further, DOE's analysis of standards for
fluorescent lamp ballasts includes consideration of the continued
availability of products that provide consumer utility presently
provided.
3. Technology Options
In the Framework document, DOE identified several technology
options that would be expected to improve the efficiency of fluorescent
lamp ballasts, as measured by the DOE test procedure. To develop a list
of technology options, DOE reviewed manufacturer catalogs, recent trade
publications and technical journals, and consulted with technical
experts. Specifically, DOE identified technology options identified in
the 2011 FL Ballast Rule: magnetic FLB design, electronic FLB design,
varying lamp diameter, higher grade components, and improved circuit
design. In addition, DOE considered the following improved components
as technology options:
Increasing the number of steel laminations to lower core
losses,
Using optimized-gauge copper to increase the conductor
cross section to reduce winding losses,
Using wire with multiple smaller coils instead of one
larger coil to increase the number of turns of wire, and
Using shape-optimized winding to reduce the proximity
effect losses.
In the Framework document, DOE requested comments on technology
options for improving the BLE of fluorescent lamp ballasts. NEMA
pointed out that core losses in the transformers and inductors used in
electronic ballasts can be minimized by using low-loss ferrite
materials. (NEMA, No. 12 at p. 6) In this analysis, DOE also considered
the option of using low-loss ferrite materials to reduce the proximity
effect.
CA IOUs recommended that DOE analyze the technology options for
improving efficiency listed in the 2011 FL Ballast Rule, including
improved components such as magnetics, diodes, capacitors, and
transistors, as well as improved circuit design. (CA IOUs, No. 10 at p.
5)
Philips stated that the only way to increase efficiency would be to
move to a different technology. ULT, Philips, and GE added that they
and the industry are focusing on solid-state lighting, specifically
LED. (ULT, Public Meeting Transcript, No. 5 at pp. 45-46; Philips,
Public Meeting Transcript, No. 5 at p. 58; GE, Public Meeting
Transcript, No. 5 at p. 67) Further, NEMA, GE, Philips, and ULT
commented that fluorescent lamp ballasts are already at or close to
their maximum achievable efficiency, and that the currently regulated
products have no margin to improve efficiency. (NEMA, Public Meeting
Transcript, No. 5 at pp. 9-11; GE, Public Meeting Transcript, No. 5 at
p. 67; Philips, No. 8 at pp. 13-14; ULT, No. 6 at p. 5) NEMA, GE, and
ULT asserted that the last rulemaking compressed the available levels
of efficiency such that the current market only consists of a maximum
and a minimum level, with very little room for differentiation among
manufacturers. (NEMA, No. 12 at p. 7; GE, Public Meeting Transcript,
No. 5 at p. 67; ULT, Public Meeting Transcript, No. 5 at pp. 45-46)
Philips and ULT added that technology options such as transistors with
reduced resistance, lowering impedance value on capacitors, increasing
steel laminations, reducing winding resistance, increasing the turns of
wire, and reducing proximity effect losses are already incorporated in
current products. (Philips, Public Meeting Transcript, No. 5 at p. 58;
ULT, No. 6 at p. 5) Lutron stated DOE should assume that all the
dimming ballasts that are going to be available after any rule becomes
effective are already on the market. (Lutron, Public Meeting
Transcript, No. 5 at p. 104) Philips and GE noted that because
fluorescent technology is on the decline, there are no new investments
in fluorescent lamp ballasts. (Philips, Public Meeting Transcript, No.
5 at p. 58; GE, Public Meeting Transcript, No. 5 at p. 67)
Based on DOE's review of the product offerings and their
efficiencies in manufacturer catalogs and DOE's Compliance
Certification Management System (CCMS) database, there are ballasts on
the market at multiple levels of efficiencies. DOE finds that the
technology options identified, individually and/or in combination, are
being utilized to improve the efficiency of products. Therefore, DOE
continues to consider these technology options as a means to improve
the efficiency of fluorescent lamp ballasts.
Based on their test data for dimming ballasts, CA IOUs asserted
that cathode cutout is a major efficiency improvement opportunity for
dimming ballasts and is currently employed by multiple dimming ballast
manufacturers. CA IOUs compared two 3-lamp dimming ballasts, one that
saved energy by using less than the allowable cathode power at lower
currents and cutout cathode power at higher currents, and another that
saved less energy by employing a continuous maximum amount of allowable
cathode power. (CA IOUs, Public Meeting Transcript, No. 5 at p. 57; CA
IOUs, No. 10 at pp. 5-7)
NEMA commented that there are several patents on how to employ
cathode cutout technology and urged DOE to exercise caution not to
inadvertently favor one method over another. (NEMA, Public Meeting
Transcript, No. 5 at pp. 58-59) CA IOUs responded that based on
conservative assumptions for hot cathode resistance per the maximum
voltage allowance at lower currents defined by NEMA LL 9-2011, any
ballast can use anywhere from 0 up to 5.6 W per lamp of cathode power
at lower currents. CA IOUs stated that while not all manufacturers may
have access to every piece of technology, this range provided enough
space for achieving significant energy savings. CA IOUs added that
based on their analysis for CEC's proposed standards for dimming
ballasts, all major manufacturers had products meeting standards, and
they determined that the necessary technology is not being limited to
one or two manufacturers due to intellectual property issues. (CA IOUs,
Public Meeting Transcript, No. 5 at pp. 59-61; CA IOUs, No. 10 at pp.
5-7)
DOE agrees that cathode cutout can improve ballast efficiency and
considered it as a technology option in this analysis. Information
obtained in manufacturer interviews indicated that patents may apply to
certain methods of achieving cathode cutout, but achievement of the
highest levels of efficiency analyzed in this proposed determination
did not require use of technologies subject to a patent.
CA IOUs stipulated that improved components and other circuit
design approaches are also viable methods for improving dimming ballast
efficiency, and encouraged DOE to explore the full range of technology
options available to manufacturers. (CA IOUs, Public Meeting
Transcript, No. 5 at p. 57; CA IOUs, No. 10 at pp. 5-7)
DOE considers the full range of technology options identified, for
both dimming and fixed-output ballasts. DOE notes it considers the same
metric (i.e., BLE at full light output) for dimming ballasts as it does
for fixed-output ballasts (see section IV.A.2 for further details).
NEMA commented that steel laminations comprise a very small
percentage of magnetics in an electronic ballast and are used for line
frequency ballasts. Further, they are typically used for dedicated line
voltage such as 120 V AC. (NEMA, No. 12 at p. 6) Philips stated that
use of amorphous steel doesn't provide for an effective work
[[Page 56552]]
product and it will continue to use it only for magnetic ballasts.
(Philips, Public Meeting Transcript, No. 5 at p. 64)
DOE determined that using laminated sheets of steel to create the
core of the inductor may not minimize losses in ballasts that operate
at high frequencies. Therefore, because the ballasts analyzed in this
proposed determination are electronic ballasts and operate at high
frequencies, DOE did not consider laminated sheets of amorphous steel
or increasing the number of steel laminations to lower core losses as
technology options.
DOE agrees that the use of low-loss ferrite materials can minimize
losses in transformers and inductors used in ballasts. Ferrite is
already widely used in electronic ballasts. However, DOE determined
that ferrite can be optimized to reduce losses by changing the percent
composition from three principal oxides: Manganese oxide, zinc oxide,
and iron (III) oxide. If the ideal amounts of each oxide are selected,
the ferrite can have lower losses.\16\ For example, manganese-zinc
ferrite is a common solid core material selected for its size
efficiency and can be optimized for high frequencies, up to 2 MHz.\17\
Hence, in this analysis, DOE is including use of low-loss ferrite
materials to create the core of the inductor in the transformer of the
ballast as a technology option to increase ballast efficiency.
---------------------------------------------------------------------------
\16\ Standard Recommendations: Soft Ferrite Cores, A User's
Guide. 2011.
\17\ McLyman, C. Transformer and Inductor Design Handbook. 2011.
Boca Raton, FL: CRC Press.
---------------------------------------------------------------------------
NEMA also added that the technology option, as described by DOE,
which involves using wire with multiple smaller coils instead of one
larger coil is poorly defined. They indicated that this technology
option should refer to litz wire and added that most electronic ballast
manufacturers already use litz wire where appropriate. (NEMA, No. 12 at
p. 6)
The technology option of using wire with multiple smaller coils
(instead of the technology option of using one larger coil to increase
the number of turns of wire) describes a way to increase the inductance
of a coil and therefore the induced voltage of the transformer. The
magnitude of the induced voltage is based on the magnetic field in the
transformer (which is based on the inductance), the frequency of
operation, number of turns of the coil, and the cross sectional area of
the transformer. For the same length of wire, a series of smaller coils
will have a larger number of turns than one coil that has a core with a
large cross sectional area. The additional number of turns of the wire
will increase the induced voltage, and thereby minimize losses from the
transformer. Provided that the number of turns is increased more than
the cross sectional area is reduced, the series of smaller coils would
have fewer losses than one large coil. This technology option is
different from the use of litz wire. Litz wire refers to a bundle of
thin insulated wires braided together such that the same sides of the
two wires are not interacting with one another the entire time, thereby
minimizing the magnetic effects between wires that negatively affect
current flow. In this analysis DOE continues to consider both use of
multiple smaller coils and litz wire as technology options to increase
the efficiency of the ballast.
In summary, for this analysis, DOE considers the technology options
shown in Table IV.1. Detailed descriptions of these technology options
can be found in chapter 3 of the NOPD TSD.
Table IV.1--Fluorescent Lamp Ballast Technology Options
----------------------------------------------------------------------------------------------------------------
Technology option Description
----------------------------------------------------------------------------------------------------------------
Electronic Ballast............................. Use an electronic ballast design.
Improved Components:
Transformers/Inductors..................... Use litz wire to reduce winding losses.
Use wire with multiple smaller coils instead of one larger coil
to increase the number of turns of wire.
Use optimized-gauge copper to increase the conductor cross
section to reduce winding losses.
Use shape-optimized winding to reduce the proximity effect
losses.
Use low-loss ferrite materials to create the core of the
inductor.
Diodes..................................... Use diodes with a lower voltage drop.
Capacitors................................. Use capacitors with a lower effective series resistance.
Transistors................................ Use transistors with low drain-to-source resistance.
Improved Circuit Design:
Cathode Cutout or Cutback.................. Remove or reduce cathode/filament heating after lamp has
started.
Integrated Circuits........................ Substitute discrete components with an integrated circuit.
Starting Method............................ Use of instant start (IS) starting method instead of a rapid
start (RS) starting method.
----------------------------------------------------------------------------------------------------------------
4. Screening Analysis
DOE uses the following four screening criteria to determine which
technology options are suitable for further consideration in an energy
conservation standards rulemaking:
(1) Technological feasibility. Technologies that are not
incorporated in commercial products or in working prototypes will not
be considered further.
(2) Practicability to manufacture, install, and service. If it is
determined that mass production and reliable installation and servicing
of a technology in commercial products could not be achieved on the
scale necessary to serve the relevant market at the time of the
projected compliance date of the standard, then that technology will
not be considered further.
(3) Impacts on product utility or product availability. If it is
determined that a technology would have significant adverse impact on
the utility of the product to significant subgroups of consumers or
would result in the unavailability of any covered product type with
performance characteristics (including reliability), features, sizes,
capacities, and volumes that are substantially the same as products
generally available in the United States at the time, it will not be
considered further.
(4) Adverse impacts on health or safety. If it is determined that a
technology would have significant adverse impacts on health or safety,
it will not be considered further.
10 CFR part 430, subpart C, appendix A, 4(a)(4) and 5(b)
In summary, if DOE determines that a technology, or a combination
of technologies, fails to meet one or more of the listed four criteria,
it will be excluded from further consideration in
[[Page 56553]]
the engineering analysis. Additionally, it is DOE policy not to include
in its analysis any proprietary technology that is a unique pathway to
achieving a certain efficiency level.
DOE received some general comments regarding the screening
methodology and its application to fluorescent lamp ballasts. Philips
commented that occasionally the criterion of manufacturing practicality
has been slanted toward being theoretically possible rather than
economically justifiable for a ballast manufacturer and consumer.
Philips stated that DOE should be cognizant of the costs associated
with design-in, approbation, marketing, and implementation of that new,
revised design into luminaires and that it might not have a positive
business case. (Philips, No. 8 at p. 15)
When determining manufacturing practicality, DOE will only consider
a technology option practical to manufacture if mass production and
reliable installation and servicing of the technology can be achieved
in the appropriate scale and timeframe. DOE finds that the technology
options under consideration are being utilized in ballast designs for
commercially available ballasts and, therefore, meet the criteria of
practicable to manufacture. Regarding the costs associated with design
options, DOE considers economic impacts including costs to the
individual customers, manufacturers, and the nation of efficiency
levels incorporating design options under consideration in the LCC,
NIA, and MIA analyses.
DOE received several comments regarding the impact of the
technology options under consideration on the size of the ballast.
Philips and NEMA commented that any improvements in efficiencies will
likely cause an increase in the ballast footprint. (Philips, No. 8 at
p. 11; NEMA, No. 12 at p. 11) ULT, Philips, and NEMA emphasized that
avoiding technology and efficiency improvements that necessitate
changes in the physical size outside the normal ballast case footprint
would be an ideal approach. (ULT, No. 6 at p. 9; Philips, No. 8 at pp.
13-14; NEMA, No. 12 at p. 11) NEMA added that implementing efficiency
changes causing fluorescent lamp ballasts to have designs outside of
standard case sizes would increase maintenance costs. (NEMA, No. 12 at
p. 11) ULT also noted that any changes in technology that increase
ballasts' physical volume would be disruptive to the original equipment
manufacturer (OEM) and replacement channels. (ULT, No. 6 at p. 5)
Philips stated that while incremental design improvements leading to
additional energy savings with efficiency gains of 1 to 2 percent are
theoretically possible, they will result in a negative impact on
luminaire compliance with existing, size-based electrical requirements.
(Philips, No. 8 at pp. 13-14)
When determining adverse impacts to consumer utility and product
availability, DOE takes into account whether a technology option will
result in lessening of utility to the consumer. Therefore, in its
analysis, DOE accounts for scenarios in which a technology option
increases the size of the ballast making it unusable in an application
in which it is currently used. DOE found no evidence that the
technology options identified could not be utilized in a manner that
would maintain the size of the ballast.
Regarding impacts of technology options on costs, DOE does not
consider cost as a factor for screening out technology options. DOE
considers the economic impacts and costs on individual customers,
manufacturers, and the nation in the LCC, NIA, and MIA analyses.
DOE also received specific comments regarding the screening of
technology options under consideration. In the Framework document, DOE
considered using optimized-gauge copper or increasing the conductor
cross section to reduce winding losses, using wire with multiple
smaller coils, and using shape-optimized winding to improve the
transformer component of the ballast. ULT stated that industry already
considers the technology options of using optimized-gauge copper, wire
with multiple smaller coils, and using shape-optimized winding in the
development of their product and any adjustments would increase the
physical volume of these products. (ULT, No. 6 at pp. 4-5) NEMA
commented that copper losses can be minimized by increasing the cross
section of the conductor, but increasing the wire gauge can result in
larger, more costly magnetics. (NEMA, No. 12 at p. 6) Philips stated
that optimized-gauge copper or increasing the conductor cross section
may also increase the size of the ballast and increase manufacturing
costs. (Philips, No. 8 at p. 14)
Implementing certain technology options to increase ballast
efficiency may increase the size of the ballast. However, as noted in
manufacturer comments, these technology options are likely already
being used in certain commercially available products; therefore, DOE
believes it is possible to utilize them while maintaining the size of
the ballast so it would not impact the application in which it is used.
Philips noted that the use of multiple smaller coils is a good
approach that has been in use for a long time and is optimized at this
point; and while manufacturers could use smaller multiple coils, it
would increase the complexity of the process, possibly making the coil
wire easier to break. (Philips, No. 8 at p. 14)
Because DOE has observed ballasts at multiple efficiencies,
manufacturers are likely utilizing different levels of technology
options under consideration including the number of small coils used.
Therefore, DOE continues to consider the use of multiple smaller coils
as a design option.
Regarding shape-optimized wiring, Philips stated that while this
technique can reduce proximity effect losses in industries such as
motors, it is more complex and expensive for ballast manufacturers.
Philips added that if it used a special process to make an EF25 \18\
coil to reduce the proximity effect losses, it will increase efficiency
by 0.1 percent. (Philips, No. 8 at p. 14)
---------------------------------------------------------------------------
\18\ An EF25 coil is a coil for an E-shaped ferrite core that is
25 mm high.
---------------------------------------------------------------------------
In identifying design options, DOE does not consider costs, which
are analyzed in separate analyses. DOE identifies technology options
that will improve efficiency. However, improvement in efficiency is not
a criteria used to determine which technology options are suitable for
further consideration in an energy conservation standards rulemaking.
10 CFR part 430, subpart C, appendix A, 4(a)(4) Therefore, DOE
continues to consider shape-optimized wiring as a design option.
a. Screened-Out Technologies
For this analysis, DOE did not screen out any technology options
identified.
b. Remaining Technologies
After reviewing each technology, DOE tentatively concludes that all
of the identified technologies listed in section IV.A.3 pass all four
screening criteria to be examined further as design options in this
analysis. In summary, DOE did not screen out the following technology
options and considers them as design options in the engineering
analysis:
(1) Electronic Ballasts
(2) Improved Components
(a) Use litz wire to reduce winding losses.
(b) Use wire with multiple smaller coils instead of one larger coil
to increase the number of turns of wire.
(c) Use optimized-gauge copper or increase the conductor cross
section
[[Page 56554]]
to reduce winding losses.
(d) Use shape-optimized winding to reduce the proximity effect
losses.
(e) Use diodes with lower losses.
(f) Use capacitors with a lower effective series resistance.
(g) Use transistors with low drain-to-source resistance.
(h) Use low-loss ferrite to create the core of the inductor.
(3) Improved Circuit Design
(a) Remove filament heating after the lamp has started.
(b) Substitute discrete components with an integrated circuit.
DOE determined that these technology options are technologically
feasible because they are being used or have previously been used in
commercially available products or working prototypes. DOE also finds
that all of the remaining technology options meet the other screening
criteria (i.e., practicable to manufacture, install, and service and do
not result in adverse impacts on consumer utility, product
availability, health, or safety). For additional details, see chapter 4
of the NOPD TSD.
5. Product Classes
In general, when evaluating and establishing energy conservation
standards, DOE divides the covered product into classes by (1) the type
of energy used, (2) the capacity of the product, or (3) any other
performance-related feature that affects energy efficiency and
justifies different standard levels, considering factors such as
consumer utility. (42 U.S.C. 6295(q))
DOE received some general comments regarding product classes. ULT
and NEMA commented that current product class definitions should not be
changed. (ULT, No. 6 at p. 4; NEMA, No. 12 at p. 5) Giving the example
of a dimming ballast that can adjust the cathode power for a specific
lamp based on the lamp's filament impedance, Philips commented that DOE
should ensure that within the dimming product class, dimming ballasts
with added features not be eliminated because they consume more energy
than a standard dimming ballast. (Philips, Public Meeting Transcript,
No. 5 at p. 61)
In this analysis, DOE reviewed FLB types to identify those with a
capacity or other performance-related feature which other FLBs do not
have, and considered whether such feature would justify a higher or
lower standard compared to all other ballast types. In the following
sections, DOE discusses the resulting product classes DOE considered
for analysis and responds to comments on specific product class setting
factors.
a. Existing Product Classes
In the Framework document, DOE considered maintaining the product
classes for ballasts currently subject to standards. The product
classes are currently divided based on starting method, lumen package,
sign ballasts, and residential versus commercial application.
Both rapid start (RS) and PS ballasts use cathode power; however,
PS ballasts limit the voltage across the lamp to prevent glow discharge
during initial cathode heating resulting in an increase in lifetime
during on/off cycling, and the cathode heat can be removed or reduced
after the lamp is in full conduction. Therefore, DOE considers PS
ballasts to offer a performance-related feature that justifies a
different efficiency level compared to instant start (IS) ballasts.
Hence, DOE maintains a separate product class for ballasts with the PS
starting method in this analysis. See chapter 3 of the NOPD TSD for
further details.
To obtain a higher lumen package (i.e., amount of light from a
lamp-and-ballast system), certain lamps are designed to operate with
ballasts that run the lamps at high currents. Unlike ballasts
generally, ballasts designed to operate HO lamps are typically used in
high ceiling or outdoor applications. Ballasts operating HO lamps
operate at higher total lamp arc powers compared to standard output
(SO) lamps. BLE generally increases with total lamp arc power. However,
DOE found that even though 8-foot HO ballasts have higher lamp arc
powers, they generally have lower BLEs when compared to 8-foot single
pin (SP) slimline ballasts. This may be because this ballast type has a
different topology, or circuit design, than other ballast types (e.g.,
4-foot MBP and 8-foot SP slimline ballasts). Because the lumen package
provides a feature that other ballasts do not and that feature
justifies a different efficiency requirement compared to other
ballasts, DOE maintains a separate product class for ballasts that
operate 8-foot HO lamps. See chapter 3 of the NOPD TSD for further
details.
Ballasts that are designed for use in outdoor signs offer
performance-related features that other ballasts generally do not. To
operate in outdoor environments and to be able to handle numerous lamp
combinations, sign ballasts contain more robust components compared to
regular 8-foot HO ballasts in the commercial sector. Thus, sign
ballasts are inherently less efficient. Therefore, DOE maintains a
separate product class for sign ballasts that operate 8-foot HO lamps.
See chapter 3 of the NOPD TSD for further details.
Finally, DOE noted in the Framework document that it planned to
maintain separate product classes for residential and commercial
ballasts. DOE received several comments on this consideration. ASAP
encouraged DOE to consider the rationale for a product class for
residential ballasts. (ASAP, Public Meeting Transcript, No. 5 at pp.
50-51) NEEA agreed asserting that commercial ballasts work just as well
in a house and have no obvious impact on anything in the house. (NEEA,
Public Meeting Transcript, No. 5 at pp. 51-52) ASAP and CA IOUs
recommended DOE revisit its analysis of residential ballasts to account
for changes in the market, such as cost of higher quality components,
trends in ballast efficiency, or other factors that may have changed
since standards from the 2011 FL Ballast Rule took effect. (CA IOUs,
No. 10 at p. 9; ASAP, No. 7 at pp. 4-5; ASAP, Public Meeting
Transcript, No. 5 at p. 50-51)
Philips noted that residential ballasts are subject to more
stringent FCC EMI requirements, and some customers may have sensitive
equipment that requires extra protection. Further, Philips stated that
even if residential customers were satisfied with commercial ballasts,
because of the FCC requirements, manufacturers must produce separate
ballasts that include additional EMI filtering for the residential
market. (Philips, Public Meeting Transcript, No. 5 at p. 52) Lutron
agreed with Philips comments. (Lutron, Public Meeting Transcript, No. 5
at p. 52) Philips added that whereas incremental design improvements
leading to additional energy savings with efficiency gains of 1 to 2
percent are theoretically possible, they will result in a negative
impact on ballast compliance with FCC EMI requirements as specified in
47 CFR part 18. (Philips, No. 8 at pp. 13-14)
CA IOUs referred to a comment made in the 2011 FL Ballast Rule by
Acuity Brands Lighting, Inc. (Acuity) stating that a residential
ballast that achieves the same efficiency as the most efficient
commercial products would be 50 percent more expensive. CA IOUs stated
that this indicated it is technically feasible to improve the
efficiency of residential ballasts, though it may be more expensive.
(CA IOUs, No. 10 at p. 9) Further, ASAP and CA IOUs stated that the
increasing affordability and confidence in LED technology will provide
consumers with more cost-effective, efficient technology options while
regulations from EISA will limit the availability of less energy-
efficient options. Therefore, the potential risk of residential
fluorescent lighting users
[[Page 56555]]
``backsliding'' to less efficient lighting technologies due to the
possibly higher cost of energy efficient residential fluorescent lamp
ballasts has been significantly reduced. (CA IOUs, No. 10 at p. 9;
ASAP, No. 7 at pp. 4-5; ASAP, Public Meeting Transcript, No. 5 at pp.
50-51)
Further, ASAP and CA IOUs stated that compared to commercial
ballasts, more stringent EMI filter requirements for residential
ballasts may lower efficiency, but the less stringent power factor
requirements can increase efficiency by not requiring more robust power
factor control devices. CA IOUs and ASAP suggested that DOE analyze how
these two factors impact achievable efficiency through additional
testing and/or modeling, as necessary, and develop an adjustment factor
that can be applied to the current standard for commercial ballasts to
define an appropriate standard level for residential ballasts. Further,
CA IOUs and ASAP suggested that DOE not limit itself to available
commercial products and model achievable efficiency levels for
residential ballasts based on the same set of technology options
available to commercial ballasts. (CA IOUs, No. 10 at p. 9; ASAP, No. 7
at pp. 4-5; ASAP, Public Meeting Transcript, No. 5 at pp. 50-51)
In the 2011 FL Ballast Rule, DOE determined that the FCC requires
residential ballasts to have more stringent or maximum allowable EMI
and per American National Standards Institute (ANSI) standards \19\
have a lower minimum power factor than commercial ballasts. Based on
these differing requirements, DOE concluded that residential ballasts
serve distinct market sectors and applications. 76 FR at 70564. In this
analysis, DOE finds that these requirements continue to exist. Further,
DOE's review of ballast efficiencies showed that residential ballasts
are unable to achieve similar maximum efficiencies as commercial
ballasts. Therefore, because residential ballasts serve distinct market
sectors and applications, and are unable to meet commercial efficiency
levels, DOE continues to consider separate product classes for
residential ballasts.
---------------------------------------------------------------------------
\19\ ANSI C82.77-2002 requires residential ballasts to have a
minimum power factor of 0.5 and commercial ballasts to have a
minimum power factor of 0.9. American National Standard for Lighting
Equipment--Harmonic Emissions Limits--Related Power Quality
Requirements for Lighting Equipment (Approved January 17, 2002).
---------------------------------------------------------------------------
DOE did not model efficiencies for residential ballasts. Based on
its review of patents and product offerings, DOE did not find more
efficient prototypes or commercially available products with design
requirements similar to residential ballasts that could serve as a
basis for modeling higher efficiencies. Further, without a physical
model to test, it would be difficult to confirm that design changes
made to improve ballast efficiency would continue to allow the ballast
to meet FCC's EMI filter requirements. See chapter 5 of the NOPD TSD
for the assessment of efficiency levels of residential ballast product
classes.
NEMA commented that as this rulemaking proceeds and other
regulatory impacts are discussed, NEMA and Electrofed Canada have been
in discussions with FCC and Industry Canada regarding revisions to
emissions requirements for lighting products in North America. They
expect the forthcoming binational negotiations to determine the
appropriate emissions limits may take a few years. NEMA stated it will
keep DOE informed of the progress of these negotiations as this FLB
rulemaking progresses. NEMA cautioned that if emissions requirements
become more stringent across the board, added functionality and
filtering could impact price and efficiency. (NEMA, Public Meeting
Transcript, No. 5 at pp. 52-53)
DOE appreciates information on discussions regarding emissions
requirements for lighting products and looks forward to learning of
their progress.
b. Additional Product Classes
In the Framework document, DOE considered product classes for
dimming fluorescent lamp ballasts based on the following four factors:
(1) Residential versus commercial, (2) lamp type operated by the
ballast, (3) continuous versus step dimming, and (4) dimming
communication protocol.
Lutron and NEMA commented that proprietary control systems can save
the same or more energy than standardized control interfaces such as
DALI, and DOE should broadly define a product class to be ``digitally-
controlled dimming ballasts, such as DALI'' and should only include
ballasts that operate 4-foot T5 and T8 lamps. Lutron and NEMA added
that digital dimming ballasts have energy-saving advantages such as the
ability to react to demand response events and report power usage as
well as to allow for independent occupancy-sensed and daylighting
zones. They stated that these features require off-state power
consumption for which digital ballasts should be given an allowance.
(Lutron, No. 9 at p. 2; NEMA, No. 12 at pp. 5-6)
CA IOUs noted that CEC proposed one single product class for all
dimming ballasts including T5 and T8 dimming ballasts, irrespective of
number of lamps. However, CA IOUs shared initial test results
suggesting dimming ballasts operating 2L T5 may be able to achieve
higher efficiencies than those operating 2L T8 ballasts. CA IOUs
recommended that DOE test a full range of dimming ballasts that operate
T5 lamps to determine whether a separate product class is necessary to
set more appropriate standard levels for these ballasts. (CA IOUs, No.
10 at pp. 4-5)
Unlike other ballasts, dimming ballasts allow consumers to control
the level of light output. Further, DOE's research and feedback from
manufacturer interviews indicate that due to the added circuitry,
dimming ballasts are less efficient than standard ballasts. Therefore,
for this analysis, DOE maintains a separate product class for dimming
ballasts.
DOE recently published a request for information (RFI) on the
emerging smart technology appliance and equipment market. 83 FR 46886
(Sept. 17, 2018). In that RFI, DOE sought information to better
understand market trends and issues in the emerging market for
appliances and commercial equipment that incorporate smart technology.
DOE's intent in issuing the RFI was to ensure that DOE did not
inadvertently impede such innovation in fulfilling its statutory
obligations in setting efficiency standards for covered products and
equipment. In this NOPD, DOE seeks comment on the same issues presented
in the RFI as they may be applicable to fluorescent lamp ballasts.
DOE analyzed one product class for all types of dimming FLBs
regardless of use in sector, lamp type, or communication protocol used.
DOE did not identify any dimming ballasts designed and marketed only
for residential use. While some communication protocols used with
dimming ballasts provide added features, DOE's evaluation of dimming
ballast efficiencies indicated that these features did not affect
efficiency, and analysis of separate product classes based on
communication protocols was not necessary. Hence, for this analysis DOE
does not consider a separate product class for ballasts with digital
communication protocols.
Additionally, DOE's evaluation of the dimming ballast market and
feedback from manufacturer interviews did not indicate that
consideration of a separate product class (or classes) based on the
lamp type operated by a dimming ballast was justified. DOE's analysis
showed that with the exception of digital ballasts, the efficiency of
dimming ballasts operating T8 lamps is
[[Page 56556]]
comparable to those operating T5 lamps. Regarding digital ballasts,
product offerings showed that digital ballasts that operate T5 lamps
are slightly more efficient than digital ballasts that operate T8
lamps. Manufacturer catalogs also indicated that there are more product
offerings for digital ballasts that operate T5 lamps than T8 lamps. DOE
identified digital ballasts that operate T8 MBP lamps as lower volume
products, and tentatively determined that the lower efficiencies are
not due to the dimming function but instead because these ballasts are
likely not utilizing the most advanced technologies and the
efficiencies of these ballasts can be improved. As such, DOE
tentatively determined that a separate product class for digital
ballasts that operate T8 MBP lamps would not be justified.
As noted in section IV.A.1.c, DOE includes in the scope of this
analysis standards for low-current PS ballasts. In the Framework
document, DOE considered a separate product class for such ballasts,
based on factors such as lamp type operated by the ballast, starting
method, and ballast input voltage. DOE's review of efficiency data
indicates that low-current PS ballasts have a lower efficiency than
comparable PS ballasts. These ballasts typically have ballast factors
equal to or below 0.7 allowing them to offer low light outputs.
However, DOE finds that the ability to provide low light outputs can be
achieved by using ballasts with higher ballast factors paired with
reduced-wattage lamps or by decreasing the number of lamps in the
system. Therefore, because the ability to provide low light output is
not limited to low-current PS ballasts, DOE did not consider a separate
product class for these ballasts for the purpose of this analysis.
c. Summary
In summary, DOE assessed the product classes shown in the following
list in its analysis. In describing product classes, DOE includes the
types of lamps each class of ballast operates. In this analysis, DOE
updated the list of lamp types based on a review of the latest product
offerings on the market and added 4-foot T5 SO and 4-foot T5 HO lamp
types for the IS/RS (not classified as residential), IS/RS residential,
and PS residential product classes. See chapter 3 of the NOPD TSD for
further discussion.
(1) IS and RS ballasts (not classified as residential) that operate
(a) 4-foot MBP lamps
(b) 2-foot U-shaped lamps
(c) 4-foot T5 SO lamps
(d) 4-foot T5 HO lamps
(e) 8-foot SP slimline lamps
(2) PS ballasts (not classified as residential) that operate
(a) 4-foot MBP lamps
(b) 2-foot U-shaped lamps
(c) 4-foot T5 SO lamps
(d) 4-foot T5 HO lamps
(3) IS and RS ballasts (not classified as sign ballasts) that operate
(a) 8-foot HO lamps
(4) PS ballasts (not classified as sign ballasts) that operate
(a) 8-foot HO lamps
(5) Sign ballasts that operate
(a) 8-foot HO lamps
(6) IS and RS residential ballasts that operate
(a) 4-foot MBP lamps
(b) 2-foot U-shaped lamps
(c) 4-foot T5 SO lamps
(d) 4-foot T5 HO lamps
(e) 8-foot SP slimline lamps
(7) PS residential ballasts that operate
(a) 4-foot MBP lamps
(b) 2-foot U-shaped lamps
(c) 4-foot T5 SO lamps
(d) 4-foot T5 HO lamps
(8) Dimming ballasts that operate
(a) 4-foot MBP lamps
(b) 2-foot U-shaped lamps
(c) 4-foot T5 SO lamps
(d) 4-foot T5 HO lamps
B. Engineering Analysis
In the engineering analysis, DOE selects representative product
classes to analyze, selects baseline ballasts within those
representative product classes, and identifies more-efficient
substitutes for the baseline ballasts. DOE uses these more-efficient
ballasts to develop efficiency levels.
For this proposed determination, DOE selected more efficient
substitutes in the engineering analysis and determined the consumer
prices of those substitutes in the product price determination. DOE
estimated the consumer price of ballasts directly because reverse-
engineering ballasts is impractical due to the use of potting, a black
pitch added to the ballast enclosure to reduce vibration damage and act
as a heat sink for the circuit board. Potting does not allow for the
visual observation and identification of individual components of the
ballast making it infeasible to apply a reverse-engineering approach.
By combining the results of the engineering analysis and the product
price determination, DOE derived typical inputs for use in the LCC
analysis and NIA. Section IV.C discusses the product price
determination (see chapter 6 of the NOPD TSD for further detail).
The methodology for the engineering analysis consists of the
following steps: (1) Selecting representative product classes, (2)
selecting baseline lamps, (3) identifying more efficient substitutes,
(4) developing efficiency levels by directly analyzing representative
product classes, and (5) scaling efficiency levels to non-
representative product classes. The details of the engineering analysis
are discussed in chapter 5 of the NOPD TSD.
1. Significant Data Sources
DOE received several comments on data used in the engineering
analysis. To ensure DOE analyzes currently available compliant
products, Philips advised DOE to only use ballasts in DOE's CCMS
database to analyze the performance of fixed output ballasts. (Philips,
No. 8 at p. 30) Regarding dimming ballasts, low-current PS ballasts, or
480 V ballasts, ULT and NEMA commented that these products have not
been evaluated in terms of efficiency or test method changes, and such
assessments are necessary to ensure a meaningful analysis. (ULT, No. 6
at p. 5; NEMA, No. 12 at p. 7)
CA IOUs suggested DOE take into account the analysis they had
conducted in support of developing CEC's proposed standards for
fluorescent lamp ballasts. CA IOUs stated that for this analysis they
tested 34 T8 dimming ballasts selected from 180 T8 dimming ballasts
listed by the CEE as qualifying commercial lighting products and
additionally tested seven T5 dimming ballasts. CA IOUs noted that this
testing, while not comprehensive of the full market, was a good
starting point. (CA IOUs, No. 10 at p. 8) Further, CA IOUs added that
it is likely that their analysis of efficiencies of low-current PS
dimming ballasts will also be useful in understanding the cathode
heating needs and determining appropriate standard levels for fixed-
output, low-current ballasts. (CA IOUs, No. 10 at p. 10)
For this analysis, DOE developed a database of ballasts based on
manufacturer catalogs and DOE's CCMS public database.\20\ For ballasts
currently subject to energy conservation standards, DOE used BLE values
in the CCMS database. For ballasts not subject to standards, BLE values
are not present in the CCMS database, and DOE determined BLE values
using catalog data. This method was used for low-current PS ballasts
and dimming ballasts designed and marketed to operate exclusively lamp
types other than one F34T12, two F34T12, two
[[Page 56557]]
F96T12/ES, or two F96T12HO/ES lamps.
---------------------------------------------------------------------------
\20\ Compliance data are publicly available on DOE's Compliance
Certification Database available at https://www.regulations.doe.gov/certification-data/.
---------------------------------------------------------------------------
DOE used the test data for dimming ballasts provided by CA IOUs to
understand the general performance of these types of ballasts. However,
for the engineering analysis DOE relied on catalog data as it allowed
for an analysis of all dimming products available on the market.
Further, because DOE considered only standards based on a BLE value at
full light output, it did not analyze BLEs at lower light outputs to
develop ELs.
Additionally, DOE paired baseline and more-efficient ballasts with
full-wattage and/or reduced-wattage lamps, where appropriate, to
reflect the most common configurations of lamp-and-ballast systems. DOE
reviewed the lamp market and identified performance characteristics
common for the chosen lamps and determined the system initial and mean
lumen outputs. The tables provided in the sections that follow specify
only the characteristics of the representative unit with a full
wattage-lamp. The complete list of pairings of lamps with selected
representative units is available in chapter 5 of the NOPD TSD.
2. Representative Product Classes
In the case where a covered product has multiple product classes,
DOE identifies and selects certain product classes as
``representative'' and concentrates its analytical effort on those
classes. For fluorescent lamp ballasts, DOE chose product classes as
representative primarily because of their high market volumes. Within
certain representative product classes, DOE also selected multiple
representative ballast types to account for multiple high volume units
within the same product class.
In response to the Framework document, Philips commented that most
dimming ballasts use a 0-10 V communication protocol and nearly all are
in the commercial sector especially if it includes retail space but
noted that they do not have full visibility into application-specific
dimming habits. (Philips, No. 8 at p. 33)
In selecting representative product classes, DOE took into account
comments from stakeholders and also reviewed product offerings and
feedback from manufacturer interviews regarding market shares of
ballast types. Based on its assessment, DOE analyzed as representative
6 product classes and 13 ballast types as shown (in grey shading) in
Table IV.2. This includes analyzing ballasts using a 0-10 V
communication protocol as representative in the dimming product class.
BILLING CODE 6450-01-P
[[Page 56558]]
[GRAPHIC] [TIFF OMITTED] TP22OC19.000
BILLING CODE 6450-01-C
3. Baseline Ballasts
For each representative product class, DOE selected a baseline
ballast as a reference point against which to measure changes resulting
from energy conservation standards. Typically the baseline ballast is
the most common, least efficient ballast that meets existing energy
conservation standards. In this analysis, DOE selected as baselines the
least efficient ballast meeting standards that operated the most common
lamp type (i.e., wattage and diameter) and where possible, has the most
common ballast factor, input voltage, and operating voltage type \21\
for the product class. DOE used the BLE values from the CCMS database
to identify baseline ballasts for all product classes except dimming.
Because most dimming ballasts are not currently subject to standards
and therefore do not have CCMS data, DOE determined BLE values by using
catalog input power and associated total lamp arc power based on the
catalog ballast factor of the ballast.
---------------------------------------------------------------------------
\21\ Operating voltage type denotes whether the ballast can
operate multiple voltages and is considered universal or can only
operate one voltage and is considered dedicated.
---------------------------------------------------------------------------
In summary, DOE directly analyzed the baseline ballasts shown in
Table
[[Page 56559]]
IV.3. See chapter 5 of the NOPD TSD for more detail.
Table--IV.3 Baseline Ballasts
--------------------------------------------------------------------------------------------------------------------------------------------------------
Input voltage/ Input
Product class Ballast type Lamp type Starting method operating voltage Power Ballast power BLE
* (V) factor factor (W)
--------------------------------------------------------------------------------------------------------------------------------------------------------
IS/RS Commercial................ 2L 4-foot MBP...... 32 W T8 IS 277, Universal..... 0.97 0.89 57.6 0.903
4L 4-foot MBP...... 32 W T8 IS 277, Universal..... 0.98 0.88 112.2 0.916
2L 8-foot SP 59 W T8 IS 277, Universal..... 0.98 0.88 109.2 0.920
slimline.
PS Commercial................... 2L 4-foot MBP...... 32 W T8 PS 277, Universal..... 0.90 0.88 57.1 0.900
4L 4-foot MBP...... 32 W T8 PS 277, Universal..... 0.90 0.87 110.5 0.920
2L 4-foot MiniBP SO 28 W T5 PS 277, Universal..... 0.98 1.00 62.4 0.891
2L 4-foot MiniBP HO 54 W T5 PS 277, Universal..... 0.98 0.99 116.8 0.912
IS/RS 8-foot HO................. 2L 8-foot RDC HO... 110 W T12 RS 277, Universal..... 0.99 0.89 197.7 0.900
Sign............................ 4L 8-foot RDC HO... 110 W T12 RS 120, Dedicated..... 0.90 ** 0.61 271.6 0.898
IS/RS Residential............... 2L 4-foot MBP...... 32 W T8 IS 120, Dedicated..... 0.50 0.88 58.9 0.872
Dimming......................... 2L 4-foot MBP 0-10V 32 W T8 PS 277, Universal..... 0.98 0.88 59.0 0.871
2L 4-foot MiniBP SO 28 W T5 PS 277, Universal..... 0.98 1.00 64.0 0.869
0-10V.
2L 4-foot MiniBP HO 54 W T5 PS 277, Universal..... 0.98 1.00 118.0 0.912
0-10V.
--------------------------------------------------------------------------------------------------------------------------------------------------------
* Universal indicates that the ballast can operate multiple voltages (i.e., 120 V or 277 V); dedicated indicates it can only operate the voltage
specified.
** DOE found limited information on ballast factors of ballasts in the Sign product class. Based on this information, DOE used the most common ballast
factor found in catalogs for the product class for representative units that did not specify ballast factor.
4. More-Efficient Substitutes
DOE selected more-efficient ballasts as replacements for each of
the baseline ballasts by considering technologies not eliminated in the
screening analysis. DOE considered these technologies in the
engineering analysis, either by modeling potential efficiency
improvements due to the design options or by analyzing commercially
available ballasts in which the design options are incorporated.
As fluorescent lamp ballasts are designed to operate fluorescent
lamps, DOE considered properties of the entire lamp-and-ballast system
in the engineering analysis. Fluorescent lamp ballasts are capable of
operating several different configurations and wattages of lamps, so
DOE chose the most common fluorescent lamp used with each ballast type
for analysis. Further, DOE selected a more-efficient fluorescent lamp
ballast with the same or similar ballast factor as the baseline
ballast, so that light output would be maintained without needing to
change the spacing of the fixture. Specifically, DOE ensured that
potential substitutes maintained the system light output within 10
percent of the baseline lamp-and-ballast system light output.
Finally, DOE selected more-efficient substitutes that showed an
improvement in BLE and a reduction in input power. As with the baseline
ballasts, DOE used the BLE values from the CCMS database for all
product classes except those dimming classes which are not currently
subject to standards and therefore do not have CCMS data. For dimming
ballasts, DOE determined BLE values by using catalog input power and
associated total lamp arc power based on the catalog ballast factor of
the ballast.
ULT and NEMA commented that the data manufacturers submit to DOE's
CCMS database should be reproducible and, therefore, could be used in
modeling. (ULT, No. 6 at p. 6; NEMA, No. 12 at p. 8) Regarding modeling
potential system efficiency, NEMA and ULT encouraged DOE to take into
account factors such as form factor, ability to reproduce in
manufacturing, and tolerance of all incorporated parts, and then
conduct physical tests of any models and design projections not
available in the market or dismiss them from analysis. (NEMA, No. 12 at
p. 7; ULT, No. 6 at p. 6) ULT also asserted that the HID rulemaking had
modeled products at efficiency levels that could not be manufactured.
(ULT, Public Meeting Transcript, No. 5 at p. 70)
When evaluating more-efficient substitutes, DOE can model potential
efficiency improvements based on design options identified in the
screening analysis. As noted in section IV.A.4, the technology options
identified as design options must be technologically feasible;
practicable to manufacture, install, and service; have no adverse
impacts on product utility or product availability; and have no adverse
impacts on health or safety.
For the IS/RS 2L 8-foot SP slimline representative ballast type,
DOE modeled a representative unit at EL 3 (EL values are provided in
Table IV.4). As noted, in most cases BLE increases with increasing
total lamp arc power for fluorescent lamp ballasts. DOE found that 4L
4-foot MBP ballasts, which operate similar total lamp arc powers as 2L
8-foot SP slimline ballasts, are able to meet EL 3. Further, DOE found
that ballasts operating 2L 8-foot T12 SP slimline lamps also meet EL 3.
Therefore, DOE determined that design options in commercially available
ballasts meeting EL 3 could be applied to a ballast operating two 8-
foot T8 SP slimline lamps to achieve a higher efficiency. DOE assumed
the modeled ballast would have characteristics common to the product
class such as universal operating voltage, normal ballast factor, and
0.98 power factor (PF). Using a common ballast factor for the product
class, DOE determined the lamp arc power and BLE for a ballast
operating two 8-foot T8 SP slimline lamps that would meet EL 3. The
performance characteristics of the modeled 2L 8-foot SP slimline
ballast are shown in Table IV.4.
ULT and NEMA stated that while reduced-wattage lamp-and-ballast
systems are common and the first step to offering higher energy
savings, the ballasts in these systems have added features that make
them less efficient. ULT noted that ballasts designed to operate
reduced-wattage lamps require higher open circuit voltages and flicker
control. (ULT, No. 6 at p. 7; ULT, Public Meeting Transcript, No. 5 at
pp. 82-83; NEMA, No. 12 at p. 9)
As noted previously, DOE chose baseline and more-efficient
substitute representative units that operate the most common lamps,
which in many cases are full-wattage lamps. DOE's review of products in
the market indicates that highly efficient ballasts operating full-
wattage lamps can also operate reduced-wattage lamps. DOE notes sign
ballasts as an exception, which predominantly operate full-wattage 8-
foot T12 recessed double contact (RDC) HO lamps and have limited
reduced-wattage options. Therefore, the analysis accounts for any
[[Page 56560]]
potential impacts on efficiency due to added features required for
operating reduced-wattage lamps.
ASAP recommended that reference lamps rather than ballast
manufacturer's specified lamps be used in DOE's analysis of total
system energy consumption of the lamp-and-ballast system. (ASAP, Public
Meeting Transcript, No. 5 at pp. 71-72)
DOE paired baseline and more-efficient ballasts with full-wattage
and/or reduced-wattage lamps, where appropriate, to reflect the most
common configurations of lamp-and-ballast systems. DOE reviewed the
lamp market and identified performance characteristics common for the
chosen lamps and determined the system initial and mean lumen outputs.
The complete list of pairings of lamps with selected representative
units is available in chapter 5 of the NOPD TSD.
5. Efficiency Levels
After identifying more-efficient substitutes for each of the
baseline ballasts, DOE developed ELs based on the consideration of
several factors, including: (1) The design options associated with the
specific ballasts being studied, (2) the ability of ballasts across
wattages to comply with the standard level of a given product class,
and (3) the max-tech level.
In this analysis, DOE used the same equation-based approach used in
the 2011 FL Ballast Rule. DOE determined that a power law equation best
modeled the observed trend between total lamp arc power and average
BLE. Specifically, DOE used the following equation that relates the
total lamp arc power operated by a ballast to BLE to develop ELs:
[GRAPHIC] [TIFF OMITTED] TP22OC19.001
where power = average total lamp arc power and A, B, and C are
constants that vary by product class.
DOE conducted extensive testing in the 2011 FL Ballast Rule to
develop the above equation. Based on this testing, DOE determined the
exponent C, which relates power to ballast losses, to be 0.25 for the
IS starting method and 0.37 for the PS starting method. Further, DOE
applied an adjustment factor A to reflect BLE values representative of
testing at the average test lab. DOE developed coefficient B based on
the tested BLE values for each product class and adjusted it to reflect
different levels of efficiencies based on representative
characteristics of the product class. Based on DOE's analysis of data
in this proposed determination, DOE determined that the methodology
used in the 2011 FL Ballast Rule to determine exponent C and adjustment
factor A remain valid.
DOE received some general comments on ballast efficiency levels.
ASAP stated that the shift to solid-state lighting will come with
higher costs of drivers and light sources, and fluorescent lamp
ballasts should not become the lowest common denominator in terms of
price and performance. (ASAP, Public Meeting Transcript, No. 5 at pp.
31-32) ULT and NEMA commented that because manufacturing was close to
the implementation date of the last rulemaking, all products on the
market manufactured after November 2014 will be at the minimum or
slightly higher than the minimum BLE standard. Therefore, these
products reflect both the minimum and maximum technology efficiency
levels. (ULT, No. 6 at p. 5; NEMA, No. 12 at p. 7) Philips agreed that
ballast technology is already close to its maximum potential. (Philips,
No. 8 at p. 15)
DOE identified several commercially available ballasts performing
at efficiency levels higher than existing standards. The efficiencies
determined from manufacturer catalogs and certification data indicate
several efficiency levels higher than the existing standard. Thus,
manufacturers appear to be utilizing more advanced technologies than
required to just meet the standard level.
DOE based initial ELs on the more-efficient representative units
selected for each product class. For product classes with multiple
representative ballast types, DOE established ELs after considering the
representative units of all representative ballast types in the product
class.
To establish final minimum efficiency requirements for each EL, DOE
evaluated whether any adjustments were necessary to the initial ELs to
ensure ballasts were available across a range of lamp arc powers and
ballast factors representative of each product class. For example, DOE
found ballasts operating certain lamp arc powers or ballasts factors do
not meet the highest efficiency level. DOE reviewed these products and
found they are low volume and are likely not using the most recent
advanced technologies. Some of them operated a total lamp arc power
that was between the total lamp arc powers operated by ballasts that
did comply with the highest standard level analyzed. Based on this
review, these FLBs appear to not have been fully optimized to achieve
the highest efficiency levels, and can be improved. Based on its
observations and analysis, DOE tentatively determined that no
additional adjustments to the initial ELs were necessary.
The ELs and characteristics of the representative units are
summarized in Table IV.4 through Table IV.9. Grey shading indicates the
modeled unit for the two-lamp 8-foot SP slimline representative ballast
type operating a T8 lamp. See chapter 5 of the NOPD TSD for more
detail.
BILLING CODE 6450-01-P
[[Page 56561]]
[GRAPHIC] [TIFF OMITTED] TP22OC19.002
As shown in Table IV.4 for the IS/RS commercial representative
product class, three ELs are analyzed. The baseline, presented in Table
IV.3, represents a basic ballast with an efficiency near the existing
standard level. EL 1 represents an improved ballast with more-efficient
components (e.g., transformers, diodes, capacitors, transistors) that
minimize losses and circuit design (e.g., integrated circuitry). EL 2
represents an advanced ballast with improved components and improved
circuit design. EL 3 is the maximum technologically feasible level and
represents a ballast with the most efficient combination of improved
components and circuit design.
Table IV.5--PS Commercial Representative Units
--------------------------------------------------------------------------------------------------------------------------------------------------------
Input voltage/ Input
Product class EL Ballast type Lamp type Starting operating Power Ballast power BLE
method voltage * (V) factor factor (W)
--------------------------------------------------------------------------------------------------------------------------------------------------------
PS Commercial................ EL 1 2L 4-foot MBP... 32 W T8 PS 277, Universal. 0.97 0.88 56.3 0.913
4L 4-foot MBP... 32 W T8 PS 277, Universal. 0.98 0.87 109.5 0.928
2L 4-foot MiniBP 28 W T5 PS 277, Universal. 0.98 1.00 61.4 0.905
SO.
2L 4-foot MiniBP 54 W T5 PS 277, Universal. 0.97 1.00 115.9 0.928
HO.
EL 2 2L 4-foot MBP... 32 W T8 PS 277, Universal. 0.98 0.88 53.9 0.953
4L 4-foot MBP... 32 W T8 PS 277, Universal. 0.99 0.87 107.6 0.944
2L 4-foot MiniBP 28 W T5 PS 277, Universal. 0.98 1.00 59.8 0.929
SO.
2L 4-foot MiniBP 54 W T5 PS 277, Universal. 0.98 1.00 113.6 0.947
HO.
--------------------------------------------------------------------------------------------------------------------------------------------------------
* Universal indicates that the ballast can operate multiple voltages (i.e., 120 V or 277 V).
As shown in Table IV.5 for the PS commercial product class, two ELs
are analyzed. The baseline, presented in Table IV.3, represents a basic
ballast with an efficiency near the existing standard level. EL 1
represents an improved ballast with more-efficient components (e.g.,
transformers, diodes, capacitors, transistors) that minimize losses and
circuit design (e.g., integrated circuitry). EL 2 is the maximum
technologically feasible level and represents a ballast with the most
efficient combination of improved components and circuit design.
[[Page 56562]]
[GRAPHIC] [TIFF OMITTED] TP22OC19.003
As shown in Table IV.6 for the IS 8-foot HO commercial product
class, two ELs are analyzed. The baseline, presented in Table IV.3,
represents a basic ballast with an efficiency near the existing
standard level. EL 1 represents an improved ballast with more-efficient
components (e.g., transformers, diodes, capacitors, transistors) that
minimize losses and circuit design (e.g., use of cathode cutout
technology, integrated circuitry). EL 2 is the maximum technologically
feasible level and represents a ballast with the most efficient
combination of improved components and circuit design.
Table IV.7--Sign Representative Units
--------------------------------------------------------------------------------------------------------------------------------------------------------
Input voltage/ Ballast Input
Product class EL Ballast type Lamp type Starting operating Power factor power BLE
method voltage * (V) factor ** (W)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Sign......................... EL 1 4L 8-foot RDC HO 110 W T12 IS 120, Dedicated. 0.99 0.61 265.1 0.920
EL 2 4L 8-foot RDC HO 110 W T12 IS 120, Dedicated. 0.90 0.61 258.4 0.944
--------------------------------------------------------------------------------------------------------------------------------------------------------
* Dedicated indicates it can only operate the voltage specified.
** DOE found limited information for ballast factor, and therefore used the most common ballast factor found in product class for representative units
that did not specify ballast factor.
As shown in Table IV.7 for the sign product class, two ELs are
analyzed. The baseline, presented in Table IV.3, represents a basic
ballast with an efficiency near the existing standard level. EL 1
represents an improved ballast with more-efficient components (e.g.,
transformers, diodes, capacitors, transistors) that minimize losses and
circuit design (e.g., integrated circuitry). EL 2 is the maximum
technologically feasible level and represents a ballast with the most
efficient combination of improved components and circuit design.
Table IV.8--IS/RS Residential Representative Units
--------------------------------------------------------------------------------------------------------------------------------------------------------
Input voltage/ Input
Product class EL Ballast type Lamp type Starting operating Power Ballast power BLE
method voltage * (V) factor factor (W)
--------------------------------------------------------------------------------------------------------------------------------------------------------
IS/RS Residential............ EL 1 2L 4-foot MBP... 32 W T8 IS 120, Dedicated. 0.56 0.85 56.2 0.884
EL 2 2L 4-foot MBP... 32 W T8 IS 120, Dedicated. 0.56 0.85 55.2 0.899
EL 3 2L 4-foot MBP... 32 W T8 IS 120, Dedicated. 0.55 0.83 53.1 0.913
--------------------------------------------------------------------------------------------------------------------------------------------------------
* Dedicated indicates it can only operate the voltage specified.
As shown in Table IV.8 for the IS/RS residential product class,
three ELs are analyzed. The baseline, presented in Table IV.3,
represents a basic ballast with an efficiency near the existing
standard level. EL 1 represents an improved ballast with more-efficient
components (e.g., transformers, diodes, capacitors, transistors) that
minimize losses and circuit design (e.g., integrated circuitry). EL 2
represents an advanced ballast with improved components and improved
circuit design. EL 3 is the maximum technologically feasible level and
represents a ballast with the most efficient combination of improved
components and circuit design.
CA IOUs stated DOE has the opportunity to capture significant
energy savings by raising standards for residential ballasts to levels
closer to those of commercial ballasts. (CA IOUs, No. 10 at p. 1) ASAP
agreed that DOE should reassess the market and set more appropriate
levels for residential ballasts to capture additional energy savings.
(ASAP, No. 7 at p. 4)
Based on DOE's review of ballast efficiencies discussed previously,
residential ballasts are unable to achieve maximum efficiencies similar
to commercial ballasts. DOE identified the more-efficient substitute
representative units for residential ballasts and identified the
efficiency levels specified in Table IV.8. Based on the methodology and
data, DOE finds these efficiency levels to be appropriate for the
residential ballast product class.
[[Page 56563]]
[GRAPHIC] [TIFF OMITTED] TP22OC19.004
BILLING CODE 6450-01-C
As shown in Table IV.9 for the dimming product class, three ELs are
analyzed. The baseline, presented in Table IV.3, represents a basic
ballast with an efficiency near the existing standard level. EL 1
represents an improved ballast with more-efficient components (e.g.,
transformers, diodes, capacitors, transistors) that minimize losses and
circuit design (e.g., use of cathode cutout technology, integrated
circuitry). EL 2 represents an advanced ballast with improved
components and improved circuit design. EL 3 is the maximum
technologically feasible level and represents a ballast with the most
efficient combination of improved components and circuit design.
CA IOUs requested DOE review their work in support of developing
CEC's standards for dimming ballasts and noted that they have provided
numerous associated documents to the docket of this rulemaking
including results from testing performance of dimming ballasts from 100
percent full light output down to the minimum dimming level where the
lamp is still producing light. (CA IOUs, Public Meeting Transcript, No.
5 at pp. 72-73; CA IOUs, No. 10 at p. 2) CA IOUs stated that while they
supported DOE's consideration of dimming ballasts for standards, they
recommended that DOE not adopt a less stringent standard than the one
proposed by CEC for dimming ballasts. (CA IOUs, No. 10 at p. 2)
However, NEMA stated that DOE should not simply implement the
standards proposed by CEC for T8 and T5 dimming ballasts because if
those dimming ballasts were tested using DOE's current test method, no
dimming ballasts would be available for sale in the United States.
(NEMA, Public Meeting Transcript, No. 5 at pp. 9-11) Lutron asserted
that the market in California will be driving dimming ballast sales as
it is the only state that has building code requirements for dimming
ballasts. Therefore, Lutron questioned the need for standards stricter
than those already adopted by California for dimming ballasts as no one
will manufacture separate products for California and the rest of the
country. (Lutron, Public Meeting Transcript, No. 5 at pp. 61-62)
DOE recognizes that certain products evaluated for this NOPD may be
subject to State regulation. As noted, DOE is conducting this
evaluation of FLB pursuant to the direction in EPCA (see section II.A).
Consistent with that statutory direction DOE is evaluating a potential
standard for dimming ballasts
[[Page 56564]]
based on BLE at full light output rather than based on a weighted
metric.
Table IV.10 summarizes the efficiency requirements at each EL for
the representative product classes. DOE seeks comment on the ELs under
consideration for the representative product classes, including the max
tech levels. See section VII.C for a list of issues on which DOE seeks
comment.
Table IV.10--Summary of ELs for Representative Product Classes
----------------------------------------------------------------------------------------------------------------
BLE = A/(1+B*total lamp arc power[caret]-C)
where A, B, and C are as follows:
Representative product class Efficiency level -----------------------------------------------
A B C
----------------------------------------------------------------------------------------------------------------
IS/RS Commercial...................... EL 1.................... 0.993 0.24 0.25
EL 2.................... .............. 0.21 ..............
EL 3.................... .............. 0.16 ..............
PS Commercial......................... EL 1.................... 0.993 0.43 0.37
EL 2.................... .............. 0.31 ..............
IS/RS Residential..................... EL 1.................... 0.993 0.33 0.25
EL 2.................... .............. 0.28 ..............
EL 3.................... .............. 0.24 ..............
IS/RS 8-foot HO....................... EL 1.................... 0.993 0.24 0.25
EL 2.................... .............. 0.14 ..............
Sign.................................. EL 1.................... 0.993 0.32 0.25
EL 2.................... .............. 0.24 ..............
Dimming............................... EL 1.................... 0.993 0.56 0.37
EL 2.................... .............. 0.48 ..............
EL 3.................... .............. 0.40 ..............
----------------------------------------------------------------------------------------------------------------
6. Scaling to Other Product Classes
DOE identified and selected certain product classes as
representative and analyzed these product classes directly. DOE chose
these representative product classes primarily due to their high market
volumes. The ELs for product classes that were not directly analyzed
(``non-representative product classes'') were then determined by
scaling the ELs of the representative product classes. Specifically,
DOE did not analyze PS 8-foot HO ballasts or PS residential ballasts
directly. NEMA and ULT recommended that DOE test all products to be
covered because scaling may not produce the correct values. (NEMA, No.
12 at p. 8; ULT, No. 6 at p. 6)
In this analysis, DOE developed ELs for the PS 8-foot HO product
class by scaling the ELs of the IS/RS 8-foot HO product class and the
ELs for PS residential product class by scaling the ELs of the IS/RS
residential product class. The primary difference between these sets of
product classes is the starting method. Hence, DOE developed scaling
factors by identifying pairs of the same ballast type manufactured by
the same manufacturer, within the same product family, that differed
only by starting method. The tested and certified efficiency values
submitted to the DOE CCMS as well as manufacturer catalog data for
these ballast pairs were used to calculate the scaling factors. From
this analysis DOE determined that the ballasts with a PS starting
method are 2 percent less efficient than those with IS starting method.
DOE then applied this reduction in BLE to develop the appropriate EL
equation curves for the PS 8-foot HO and PS residential product class.
Because it is based on tested CCMS and manufacturer-provided catalog
values, DOE has tentatively determined that this an accurate method for
developing the ELs of the PS 8-foot HO and PS residential product
classes. See chapter 5 of the NOPD TSD for more details.
Table IV.11 summarizes the efficiency requirements at each EL for
the non-representative product classes. DOE seeks comment on the ELs
under consideration for the non-representative product classes,
including the max-tech levels. See section VII.C for a list of issues
on which DOE seeks comment.
Table IV.11--Summary of ELs for Non-Representative Product Classes
----------------------------------------------------------------------------------------------------------------
BLE = A/(1+B*total lamp arc power[caret]-C)
where A, B, and C are as follows:
Non-representative product class Efficiency level -----------------------------------------------
A B C
----------------------------------------------------------------------------------------------------------------
PS 8-foot HO.......................... EL 1.................... 0.973 0.45 0.37
EL 2.................... .............. 0.26 ..............
PS Residential........................ EL 1.................... 0.973 0.54 0.37
EL 2.................... .............. 0.46 ..............
EL 3.................... .............. 0.39 ..............
----------------------------------------------------------------------------------------------------------------
7. Proprietary Designs
In the Framework document, DOE explained it would consider in its
engineering and economic analyses all design options that are
commercially available or present in a working prototype, including
proprietary designs, that meet the screening criteria discussed in
section IV.A.4. DOE will consider a proprietary design in the
subsequent analysis only if it does not represent a unique path to a
given efficiency level. If the proprietary design is the only approach
available to achieve a given efficiency level, then DOE will eliminate
the efficiency level from further analysis. However, if the efficiency
level can be achieved by a number of design approaches, including a
proprietary design, DOE will continue to examine the given efficiency
level.
[[Page 56565]]
NEMA and ULT commented that as long as DOE follows the methodology
laid out in the Framework document, they will not have an issue with
the examination of proprietary designs. (NEMA, No. 12 at p. 8; ULT, No.
6 at p. 6) NEMA reiterated its comments made in CEC rulemaking
proceedings on cathode cutout that there may be various interlinked
patents regarding cathode cutout and encouraged DOE to exercise caution
not to inadvertently favor one patented method over another. (NEMA,
Public Meeting Transcript, No. 5 at pp. 58-59)
DOE received feedback in manufacturer interviews that while there
are various patents related to ballast efficiency, the efficiencies of
ballasts can be improved without reliance on a patented technology. DOE
is not aware of any efficiency level under consideration that can only
be achieved by a proprietary design.
C. Product Price Determination
Typically, DOE develops manufacturer selling prices (MSPs) for
covered products and applies markups to create end-user prices to use
as inputs to the LCC analysis and NIA. Because fluorescent lamp
ballasts are difficult to reverse-engineer (i.e., not easily
disassembled due to potting), DOE directly derives end-user prices for
the ballasts covered in this proposed determination.
In the Framework document, DOE stated that for commercial and
industrial ballast designs, fluorescent lamp ballasts can go through
two types of distribution channels: sold within fixtures and sold as
replacement ballasts. In the fixture distribution channel, the
manufacturer sells the ballast to an OEM--in this case, the fixture
manufacturer--who in turn sells the ballast in a fixture to an
electrical wholesaler (i.e., distributor). The distributor sells it to
a contractor, who passes it on to the end-user. In the replacement
distribution channel, the manufacturer sells the ballast to an
electrical wholesaler, who sells it to a contractor, who passes it on
to the end-user. For residential ballast designs, DOE assumes that the
manufacturer sells the ballast to an OEM who in turn sells it in a
fixture to a home improvement retailer, where it is purchased by the
consumer.
GE commented that the distribution channels considered in the
Framework document analysis are similar to the 2011 FL Ballast Rule and
appear to be appropriate. (GE, Public Meeting Transcript, No. 5 at p.
91) Philips agreed that the value chain had been accurately mapped out.
(Philips, No. 8 at p. 34)
In this analysis, DOE retained the basic structure of distribution
channels described in the Framework document with minor modifications
based on additional research and information learned through
manufacturer interviews. DOE determined that ballasts can be sold by
electrical wholesalers to the end-user in large volume via a
contractor; in large volume without a contractor; and in low volume
without a contractor (e.g., homeowners). Based on estimated shipments,
DOE assigned a weighting of 85 percent for large volume via contractor;
10 percent for large volume without a contractor; and 5 percent for low
volume without a contractor. DOE accounted for all three scenarios in
developing end-user prices for representative units identified in the
engineering analysis.
ULT and NEMA commented that the best way to understand the cost of
products is to work with individual manufacturers under a
confidentiality agreement. They stated that teardown analysis or
bottom-up analysis would be difficult because of the use of potting
material in ballast design, which is still very common. (ULT, Public
Meeting Transcript, No. 5 at p. 75; ULT, No. 6 at p. 6; NEMA, No. 12 at
p. 8) Philips commented that product teardowns should not be used for
market pricing predictions, but only for possible product manufacturing
cost analysis and reverse engineering because market prices are not
determined on a cost plus basis. Further, Philips noted that while blue
book prices may be directionally accurate, they will not account for
additional discounts and pricing programs available in the value chain.
Philips commented that NEMA data on market units and dollars could be
useful in making pricing assumptions and suggested DOE work directly
with NEMA to obtain relevant data by channel, and if that was not
possible they could provide DOE with their local market analysis
expert. (Philips, No. 8 at pp. 30, 34)
DOE was unable to obtain blue book prices (i.e., manufacturer
suggested prices) for ballasts and did not utilize the teardown
approach due to use of potting in ballasts. To develop end-user prices
for fluorescent lamp ballasts, DOE began with a consistent set of
prices by determining an average electrical wholesaler price for each
representative unit. DOE determined that in addition to electrical
distributors such as Grainger, internet retailers can also serve as
wholesalers of fluorescent lamp ballasts. Therefore, DOE collected
prices from electrical distributors and internet retailers for each
representative unit and/or ballast with similar performance
characteristics to develop an average wholesaler price.
For the replacement channel, DOE used this average wholesaler price
to determine the end-user prices for ballasts going through each
wholesaler pathway: Large volume (no contractor), large volume (with
contractor), and low volume (no contractor). DOE used the average
wholesaler price as the large volume (no contractor) end-user price.
DOE applied a contractor markup of 13 percent to the average wholesaler
price to develop the large volume (with contractor) end-user price. DOE
determined that ballasts sold through the low volume pathway would be
sold by home centers. However, DOE found limited price data for
representative units at home centers. Therefore, based on manufacturer
feedback DOE applied an estimated 20 percent markup to the average
wholesaler price to determine the low volume (no contractor) consumer
price. DOE then weighted the large volume (with contractor) price by 85
percent; large volume (no contractor) price by 10 percent; and low
volume (no contractor) price by 5 percent to develop an average
weighted end-user price for each representative unit.
For the fixture channel, DOE applied an OEM markup of 21 percent to
the average weighted end-user price determined for the replacement
channel.
Based on manufacturer feedback, DOE determined that the estimated
shipments going through the replacement channel and fixture channel are
each 50 percent. DOE applied this weighting to the average end-user
prices for the replacement and OEM channels to develop the final end-
user price of a representative unit. Once DOE calculated end-user
prices, DOE added sales tax and, if appropriate, installation costs to
derive the total, installed end-user cost. See chapter 6 of the NOPD
TSD for pricing results and further details on the pricing methodology.
DOE received comments on price trends for dimming ballasts.
Although CA IOUs and CEC used slightly different methods to understand
the cost effectiveness of dimming ballasts, CA IOUs stated that both
methods showed cost-effective results. They encouraged DOE to review
both CEC methodology, which was more similar to a tear down approach,
and the CA IOU methodology, which was more of a statistical analysis of
ballast prices on the market. (CA IOUs, Public Meeting Transcript, No.
5 at p. 75)
CA IOUs stated that they completed a multivariable regression
analysis on dimming fluorescent lamp ballasts
[[Page 56566]]
available from online retailers to evaluate cost effectiveness of a
standard for dimming ballasts. Through this research, CA IOUs found no
statistical correlation between product efficiency and price, but
rather the results of the regression model suggested that dimming FLB
price is more strongly correlated to manufacturer, how many lamps it
can operate, and whether or not it is digitally controllable, rather
than efficiency. CA IOUs referred to a graphical representation of data
they had collected, which indicated that there is no clear trend
suggesting that higher efficiency ballasts are generally more expensive
than lower efficiency ballasts. CEC's cost-effectiveness evaluation
focused on the cost of implementing cathode cutout technology to make
the dimming ballasts more efficient. Based on the TSD from the 2011 FL
Ballast Rule, CEC assumed that the incremental cost of cathode cutout
was $0.89 for a 2-lamp ballast, which was scaled by $0.10 per lamp,
resulting in the highest incremental cost for a 4-lamp ballast as
$1.09. (CA IOUs, No. 10 at pp. 8-9)
In the product price determination, DOE developed end-user prices
for each representative unit. As noted in the engineering analysis,
these representative ballasts incorporate the design options to achieve
the EL under consideration. Therefore, DOE's end-user prices would
include the use of the cathode cutout design option used in a
representative unit. DOE's evaluation of prices for dimming ballasts
indicate that end-user price does increase with the efficiency of
dimming ballast. Further, in interviews, manufacturers indicated that
generally all things considered equal, prices will increase with FLB
efficiency. DOE seeks comment on the methodology and results for
estimating end-user prices for fluorescent lamp ballasts in this
analysis. See section VII.C for a list of issues on which DOE seeks
comment. Chapter 6 of the NOPD TSD provides details on DOE's
development of end-user prices for fluorescent lamp ballasts.
D. Energy Use Analysis
The purpose of the energy use analysis is to determine the annual
energy consumption of fluorescent lamp ballasts at different BLE in
representative U.S. commercial and industrial buildings, outdoor
installations, and single-family homes and multi-family residences, and
to assess the energy savings potential of increased BLE for fluorescent
lamp ballasts. The energy use analysis estimates the range of energy
use of fluorescent lamp ballasts in the field (i.e., as they are
actually used by consumers). The energy use analysis provides the basis
for other analyses DOE performed, particularly assessments of the
energy savings and the savings in consumer operating costs that could
result from adoption of amended standards.
The energy conservation standards for fluorescent lamps are not
within the scope of this analysis; however, the input power of the
complete lamp-and-ballast system is considered for the energy use
analysis because ballasts are not intended to operate without lamps.
The energy use characterization provides estimates of annual energy use
for representative lamp-and-ballast systems that DOE evaluates in the
LCC and PBP analyses and the NIA. To develop annual energy use
estimates, DOE multiplied annual usage (in hours per year) by the
system input power (in watts).
DOE selected the most common fluorescent lamps used with each
analyzed ballast to develop representative lamp-and-ballast systems.
DOE developed the system input power estimates in the engineering
analysis. To characterize the country's average use of fluorescent lamp
ballasts for a typical year, DOE developed annual operating hours by
sector, using data from the 2015 U.S. Lighting Market Characterization
(LMC), which was published in 2017.\22\
---------------------------------------------------------------------------
\22\ U.S. Department of Energy-Office of Energy Efficiency and
Renewable Energy. 2015 U.S. Lighting Market Characterization.
November 2017. https://energy.gov/eere/ssl/2015-us-lighting-market-characterization.
---------------------------------------------------------------------------
Philips stated that it was unclear how DOE would assign each
ballast type into one or more sectors. Many types of ballasts can be
used in both commercial and industrial applications that would affect
their usage profile. Philips expected DOE to use an appropriate method
to assign the different ballasts the various sectors. (Philips, No. 8
at p. 31) DOE agrees that fluorescent lamp ballasts are used in many
applications, and a single ballast model could be used within different
sectors. In chapter 7 of the NOPD TSD, DOE analyzed the typical
operating hours of the different sectors. DOE then weighted the ballast
operation by sector to develop average operating hours.
1. Reduced Wattage Fluorescent Lamps
ULT stated that the use of reduced wattage (also known as energy
saving) lamps in the marketplace is very common. (ULT, No. 6 at p. 7)
NEMA, SCE, and ULT stated that reduced wattage lamps are the first step
in energy savings for a large portion of the market. (NEMA, No. 12 at
p. 9; SCE, Public Meeting Transcript, No. 5 at pp. 81-82; ULT, No. 6 at
p. 7) DOE agrees and modeled a mixture of full wattage and multiple
reduced wattage options (where they exist) for many of the fluorescent
lamps operated by the fluorescent lamp ballasts. See chapter 5 of the
NOPD TSD for more details.
2. Occupancy Sensors
NEMA and ULT stated that occupancy sensors will be in the off mode
more than the on mode with the exception of those installed in offices.
In general, these are installed in areas that are not frequently
occupied. Spaces can include but are not limited to bathrooms,
stairwells, closets, hallways, and warehouse aisles, where sensors are
off most of the time. For occupancy sensors used in offices to turn
lights off after a preset time of inactivity, the time in the on mode
would be difficult to generalize because it would differ greatly from
installation to installation. (NEMA, No. 12 at p. 4; ULT, No. 6 at p.
8) NEMA and Lutron directed DOE to review work conducted by Lawrence
Berkeley National Laboratory (LBNL) for additional data on occupancy
sensors.\23\ (NEMA, No. 12 at pp. 9-10; Lutron, No. 9 at pp. 2-3) DOE
reviewed the LBNL reports and one report specifically mentioned by
Lutron states that energy savings from occupancy controls per zone were
27 percent. However, savings primarily occurred at night between 6 p.m.
and 1 a.m. and during early morning and evening hours when occupancy
tended to be irregular.\24\
---------------------------------------------------------------------------
\23\ A technical publications list is available at Lawrence
Berkeley National Laboratory. DOE relied primarily on A Meta-
Analysis of Energy Savings from Lighting Controls in Commercial
Buildings, available at https://eta.lbl.gov/publications/meta-analysis-energy-savings-lighting.
\24\ Lawrence Berkeley National Laboratory. Monitored Lighting
Energy Savings from Dimmable Lighting Controls in the New York Times
Headquarters Building. 2013. Available at https://windows.lbl.gov/publications/monitored-lighting-energy-savings-dimmable-lighting-controls-new-york-times.
---------------------------------------------------------------------------
DOE stated in the Framework document that in the 2011 FL Ballast
Rule, DOE adjusted the annual operating hours for the ballasts in the
commercial sector that are controlled by occupancy sensors by roughly
30 percent compared to the other ballasts. Lutron and NEMA stated that
reduced hours are high for intelligent systems using dimming ballasts
with multiple control types. Occupancy sensors and time clock operation
have the potential to dramatically reduce operating hours. For this
analysis, DOE also reduced the operating hours for MBP lamps in the PS
commercial product class by 30
[[Page 56567]]
percent to account for the use of occupancy sensors.
NEMA and ULT stated that operating hours can vary for the same
model of a ballast installed in different applications. NEMA and ULT
suggested that it would be best to develop an average usage number to
apply to ballasts and that to figure all scenarios would be virtually
impossible. (NEMA, No. 12 at p. 9; ULT, No. 6 at p. 7) DOE agrees and
assigned a single average usage to each of the different ballast types.
Within the LCC analysis, DOE includes a distribution of operating hours
in the Crystal Ball \TM\ (a commercially available software program)
analysis used to determine the average LCC savings as well as the
percentage of net customers experiencing a net cost. Resultant average
values calculated from the Crystal Ball \TM\ distributions were used in
the NIA.
3. Dimming Ballasts
During the framework public meeting, both GE and CA IOUs stated
that dimming ballasts will have an operating profile different from
fixed-output (non-dimming) ballasts. Dimming ballasts are typically
operating in advanced systems, and as a result, might have fewer
operating hours or be operating in a dim mode compared to a standard
static system. GE stated that dimming ballasts will have a lower energy
use profile, which might be difficult to determine, but it will be less
than a non-dimming ballast profile of 100 percent output, 100 percent
of the time. (GE, Public Meeting Transcript, No. 5 at pp. 78-79, 88-89;
CA IOUs, Public Meeting Transcript, No. 5 at p. 89)
To develop the energy usage profile for dimming ballasts, DOE
reviewed A Meta-Analysis of Energy Savings from Lighting Controls in
Commercial Buildings by LBNL.\25\ GE suggested this document as a
potential source on the effects of controls on lighting systems but
cautioned that there is a broad range of results from even the same
control type. (GE, Public Meeting Transcript, No. 5 at pp. 86-87)
Lutron also stated during the public meeting that they would provide
references in written comments. (Lutron, Public Meeting Transcript, No.
5 at p. 88) Lutron and NEMA both referenced in written comments an LBNL
study on energy savings using controls with dimming ballasts. (Lutron,
No. 10 at p. 3; NEMA, No. 12 at p. 10) The LBNL study referenced in the
written comments is a different version but includes the same data as
the LBNL meta-analysis previously cited.\26\
---------------------------------------------------------------------------
\25\ Lawrence Berkeley National Laboratory. A Meta-Analysis of
Energy Savings from Lighting Controls in Commercial Buildings.
Available at https://eta.lbl.gov/publications/meta-analysis-energy-savings-lighting.
\26\ Williams et al. Lighting Controls in Commercial Buildings.
Leukos: The Journal of the Illuminating Engineering Society. 2012.
8(3): pp. 161-180. Available at https://eaei.lbl.gov/publications/lighting-controls-commercial.
---------------------------------------------------------------------------
DOE reviewed the meta-analysis and found that Tables 3 and 4 in the
LBNL study present the average savings for each control type by
building and by control type for peer-reviewed and non-peer-reviewed
papers, respectively. Energy savings greater than 30 percent were
common from daylighting and personal tuning (controls typically
utilizing dimming technology).
Lutron and NEMA stated that dimming ballasts and associated
controls and sensors have the potential to save energy in the form of a
reduced load and not solely in the reduction of operating hours.
(Lutron, No. 10 at p. 3; NEMA, No. 12 at p. 10) DOE agrees and
developed a duty cycle of operation to characterize the energy use of
the dimming ballast.
Southern California Edison (SCE) suggested that DOE consider
dimming ballasts operating below 50 percent. (SCE, Public Meeting
Transcript, No. 5 at pp. 38-39) CA IOUs recommended that DOE review
documents generated for and submitted to CEC's efforts to develop state
requirements for dimming ballasts. CA IOUs submitted these documents to
DOE as part of their written comments. (CA IOUs, No. 10 at p. 2) In
addition, CA IOUs stated that California's duty cycle for fluorescent
dimming ballasts was designed to coincide with elements in California's
energy code, Title 24, and involves output at 100 percent, 80 percent,
and 50 percent light output. (CA IOUs, Public Meeting Transcript, No. 5
at p. 86)
California's analysis assumes that the dimming ballast operates 20
percent of the time at 100 percent light output, 50 percent of the time
at 80 percent light output, and 30 percent of the time at 50 percent
light output.\27\ Compared to 100 percent of the time at 100 percent
light output, this California duty cycle results in an energy savings
of 26 percent. In contrast for this preliminary analysis, DOE analyzed
a different duty cycle. DOE analyzed a duty cycle that yielded energy
savings closer to the values reported in the LBNL meta-analysis. DOE
used 10 percent of the time at 100 percent light output, 30 percent of
the time at 70 percent light output, and 60 percent of the time at 30
percent light output.
---------------------------------------------------------------------------
\27\ Table 4.3 Average Energy Use for Qualifying Products. p. 16
CA IOUS. Dimming Fluorescent Lamp Ballasts. Codes and Standards
Enhancement (CASE) Initiative for PR2013: Title 20 Standards
Development. (TN 78109) Updated version dated August 5, 2013.
Available at https://efiling.energy.ca.gov/Lists/DocketLog.aspx?docketnumber=12-AAER-02B.
---------------------------------------------------------------------------
Dimming ballasts have very limited use in residential applications.
Both Lutron and NEEA reiterated the low use of dimming ballasts in
residential applications. (Lutron, Public Meeting Transcript, No. 5 at
pp. 87-88; NEEA, Public Meeting Transcript, No. 5 at p. 87) DOE agrees
and assumed 98 percent of dimming ballasts were in commercial
applications and 2 percent were in residential applications.
GE and ULT stated that reduced wattage lamps are not used with
dimming ballasts because of difficulties with dimming these lamps and
other reasons. (GE, Public Meeting Transcript, No. 5 at p. 80; ULT,
Public Meeting Transcript, No. 5 at pp. 81-82) Because dimming ballasts
are compatible with reduced wattage lamps, some dimming ballasts and
reduced wattage systems are likely in use. DOE accounts for this low
usage in its weighting of such systems.
4. Tubular LEDs
ULT stated that although tubular LEDs (TLEDs) are becoming
prevalent, the ballasts in the field were not designed to operate
TLEDs. NEMA and ULT highlighted that standards bodies require
certification that the ballast and given lamp can operate. (ULT, Public
Meeting Transcript, No. 5 at p. 83; NEMA, Public Meeting Transcript,
No. 5 at pp. 84-85) Both NEMA and ULT cautioned that some
incompatibility between the ballast and the TLED may occur in the
field. NEMA and ULT recommended to not include these lamps in the
analysis and if necessary address TLEDs separate from the ballast.
(NEMA, No. 12 at p. 9; ULT, No. 6 at p. 7) DOE agrees with ULT that
TLEDs are becoming prevalent. DOE also reiterates that the scope of
this analysis is the fluorescent lamp ballast and only includes TLEDs
in the analysis because the operation of these lamps by the ballast
affects the energy use, and that in the field fluorescent lamp ballasts
are operated, to a degree, with TLEDs.
ASAP referenced research by other DOE programs that TLEDs operating
in a luminaire designed for a fluorescent lamp are significantly less
energy efficient than dedicated LED luminaires. (ASAP, No. 7 at p. 5)
DOE agrees that differences exist between modified fluorescent
luminaires using a TLED and a luminaire designed solely to operate
LEDs. DOE notes that LED luminaires are not part of this analysis.
[[Page 56568]]
ASAP recommended analyzing the TLED market to evaluate its effect
on the overall energy savings over time. (ASAP, No. 7 at p. 5) GE and
Philips stated that the prevalence of TLEDs is growing rapidly. GE
speculated that TLEDs are currently a low percentage of the overall
installed base. (GE, Public Meeting Transcript, No. 5 at p. 80;
Philips, No. 8 at p. 32) DOE includes a change in TLED penetration over
time in this analysis. As the mixture of lamps operated by the ballast
changes to include differing amount of TLEDs, the energy use of the
ballast changes.
Philips discussed that there is an inverse relationship with the
use of TLEDs on fluorescent lamp ballasts. As a general rule, the
combination of fluorescent lamp ballast and TLED results in a lower
power draw, but the operation of a fluorescent lamp ballast and
fluorescent lamp results in a greater ballast efficiency. (Philips, No.
8 at p. 32) Philips also stated that it manufactures a ballast to be
paired with specific fluorescent lamps and does not know if the ballast
is being paired with a TLED or if the wattage of the TLED is 14, 15, 17
or some other wattage value. (Philips, Public Meeting Transcript, No. 5
at pp. 83-84) Philips stated that TLEDs are available in the 12 to 17 W
range and offer significant energy savings when used with compatible
fluorescent lamp ballasts. (Philips, No. 8 at p. 32) Philips stated
that the power draw for TLEDs will continue to decrease into the
future. (Philips, Public Meeting Transcript, No. 5 at p. 82) DOE agrees
that ballast efficiency can differ for the same ballast operating a
fluorescent lamp and a TLED. DOE used the operating power for TLEDs in
the analysis. DOE also analyzed the larger TLED market to determine
representative values of fluorescent lamp ballasts operating TLEDs.
DOE seeks comment on the methods to improve DOE's energy-use
analysis, as well as any data supporting alternate operating hour
estimates or assumptions regarding dimming of fluorescent lamp
ballasts. DOE seeks comment on the type, prevalence, and operating hour
reductions related to the use of lighting controls used separately in
commercial, industrial, and residential sectors. DOE seeks comment on
the assumptions and methodology for estimating annual operating hours.
See section VII.C for a list of issues on which DOE seeks comment.
Chapter 7 of the NOPD TSD provides details on DOE's energy use analysis
for fluorescent lamp ballasts.
E. Life-Cycle Cost and Payback Period Analysis
DOE conducted LCC and PBP analyses to evaluate the economic effects
on individual consumers of potential energy conservation standards for
fluorescent lamp ballasts. In particular, DOE performed LCC and PBP
analyses to evaluate, in part, the savings in operating costs
throughout the estimated average life of fluorescent lamp ballasts at
different ELs compared to any associated increase in costs of
fluorescent lamp ballasts likely to result from standards at each EL.
The effect of amended energy conservation standards on individual
consumers usually involves a reduction in operating cost and an
increase in purchase cost. DOE used the following two metrics to
measure effects on the consumer:
The LCC (life-cycle cost) is the total consumer expense of
an appliance or product over the life of that product, consisting of
total installed cost (manufacturer selling price, distribution chain
markups, sales tax, and installation costs) plus operating costs
(expenses for energy use, maintenance, and repair). To compute the
operating costs, DOE discounts future operating costs to the time of
purchase and sums them over the lifetime of the product.
The PBP (payback period) is the estimated amount of time
(in years) it takes consumers to recover the increased purchase cost
(including installation) of a more-efficient product through lower
operating costs. DOE calculates the PBP by dividing the change in
purchase cost at higher efficiency levels by the change in annual
operating cost for the year that amended standards are assumed to take
effect.
For any given efficiency level, DOE measures the change in LCC
relative to the LCC in the no-new-standards case, which reflects the
estimated efficiency distribution of fluorescent lamp ballasts in the
absence of new or amended energy conservation standards. Similarly, the
PBP for a given efficiency level is measured relative to the baseline
reflecting the efficiencies customers are estimated to select absent an
amended standard.
For each considered efficiency level in each product class, DOE
calculated the LCC and PBP for a nationally representative set of
potential customers. Fluorescent lamp ballasts are used widely in
commercial, industrial, and residential settings. For each ballast
class, DOE identified the types of customers likely to use the
ballasts, the number of hours per year each customer type would likely
use the ballasts, and a probability of selection for each customer type
in the Monte Carlo analysis.
Inputs to the calculation of total installed cost include the cost
of the product--which includes manufacturer production costs (MPCs),
manufacturer markups, retailer and distributor markups, and sales
taxes--and installation costs. Inputs to the calculation of operating
expenses include annual energy consumption, energy prices and price
projections, repair and maintenance costs, product lifetimes, and
discount rates. DOE created distributions of values for product
lifetime, energy prices, annual operating hours (which determines
energy consumption), discount rates, and sales taxes, with
probabilities attached to each value, to account for their uncertainty
and variability.
The computer model DOE uses to calculate the LCC and PBP, which
incorporates Crystal Ball\TM\, relies on a Monte Carlo simulation to
incorporate uncertainty and variability into the analysis. The Monte
Carlo simulations sample input values from the probability
distributions and FLB user samples. The model calculated the LCC and
PBP for products at each efficiency level for 10,000 FLB installations
per simulation run.
DOE calculated the LCC and PBP for all consumers of fluorescent
lamp ballasts as if each were to purchase a new product in the expected
year of required compliance with potential amended standards. Any
amended standards would apply to fluorescent lamp ballasts manufactured
3 years after the date on which any amended standard is published. (42
U.S.C. 6295(m)(4)(A)) For purposes of its analysis, DOE used 2023 as
the first year of compliance with any amended standards for fluorescent
lamp ballasts.
Table IV.12 summarizes the approach and data DOE used to derive
inputs to the LCC and PBP calculations. The subsections that follow
provide further discussion. Details of the spreadsheet model, and of
all the inputs to the LCC and PBP analyses, are contained in chapter 8
of the NOPD TSD and its appendices.
[[Page 56569]]
Table IV.12--Summary of Inputs and Methods for the LCC and PBP Analysis
*
------------------------------------------------------------------------
Inputs Source/method
------------------------------------------------------------------------
Product Cost................. Derived by multiplying product costs from
the engineering analysis by (one plus)
sales tax rates.
Installation Costs........... Baseline installation cost determined
with data from RSMeans. Assumed no
change with efficiency level.
Annual Energy Use............ The total annual energy use multiplied by
the hours per year. Average number of
hours based 2015 LMC.
Energy Prices................ Based on the Energy Information
Administration's (EIA's) Form 861 data
for 2017.\28\ Average energy prices
determined for 50 states plus the
District of Columbia.
Energy Price Trends.......... Based on Annual Energy Outlook 2019
(AEO2019) price projections.
Repair and Maintenance Costs. Assumed no change with efficiency level.
Product Lifetime............. Average: 12.5 Years for commercial
installations (approximately 38,000
hours), 12.5 years for outdoor
installations (approximately 41,000
hours), 11.4 years for industrial
installations (50,000 hours), and 15
years for residential installations
(approximately 10,800 hours).
Discount Rates............... For residential product class, the
calculations involve identifying all
possible debt or asset classes that
might be used to purchase the considered
appliances, or might be affected
indirectly. Primary data source was the
Federal Reserve Board's Survey of
Consumer Finances. For other product
classes, the calculations involve
estimating weighted average cost of
capital for large numbers of companies
and using the results to develop
discount rate distributions. Primary
data were from the Damodaran online web
site \29\ and the Federal Reserve
Board.\30\
Rebound Effect............... Rebound is not assumed to be present
among FLB consumers. Most consumers are
commercial and industrial consumers, and
the FLB/light user tends to not see the
bills so there would be no perceived
change in the cost of using the light.
Compliance Date.............. 2023.
------------------------------------------------------------------------
* References for the data sources mentioned in this table are provided
in the sections following the table or in chapter 8 of the NOPD TSD.
1. Product Cost
---------------------------------------------------------------------------
\28\ DOE used Average Price by State by Provider (EIA-826),
sorted for Total Electric Industry, obtained from the EIA web page
https://www.eia.gov/electricity/data/state/.
\29\ See the data page on Damodaran Online, https://
pages.stern.nyu.edu/~adamodar.
\30\ In addition to the previously referenced Survey of Consumer
Finances, DOE used interest rate data obtained from the Federal
Reserve Bank of St. Louis' FRED Economic Data tool found at https://fred.stlouisfed.org/.
---------------------------------------------------------------------------
As noted in section IV.C, DOE rulemaking analyses typically
calculate consumer product costs by multiplying MPCs developed in the
engineering analysis by the markups along with sales taxes. For
fluorescent lamp ballasts, the engineering analysis determined customer
prices directly; therefore, for the LCC analysis, the only adjustment
was to add sales taxes.
In prior energy conservation standards rulemakings, DOE estimated
the total installed costs per unit for equipment and then assumed that
costs remain constant throughout the analysis period. This assumption
is conservative because equipment costs tend to decrease over time. In
2011, DOE published a notice of data availability (NODA) titled
Equipment Price Forecasting in Energy Conservation Standards Analysis.
76 FR 9696 (Feb. 22, 2011). In the NODA, DOE proposed a methodology for
determining whether equipment prices have trended downward in real
terms. The methodology examines so-called price or experiential
learning, wherein, with ever-increasing experience with the production
of a product, manufacturers are able to reduce their production costs
through innovations in technology and process.
Consistent with the February 2011 NODA, DOE examined historical
price data specific to electronic ballasts. As discussed in Chapter 8
and Appendix 8C of the NOPD TSD, this analysis yielded learning
coefficients indicating a 14.8 percent decrease in ballast prices for
every doubling in cumulative ballast shipments. Although this price
trend was incorporated into the LCC model, it was excluded from the LCC
results presented in this NOPD. With shipments falling from historical
values, cumulative shipments do not double relative to 2015 (the last
year of historical data) in any shipments scenario, and shipments go to
zero in one scenario essentially at the projected start date for
amended standards. See section IV.F.1 for further details on shipments.
Given this range of possible shipments, for the LCC results presented
in this NOPD, the price change over time was assumed to be zero; or, in
other words, the price trend coefficient was set to 1.00 for all years
of the LCC (and NIA) analyses.
Lamp manufacturing is also subject to the learning process. The
focus of this NOPD is the fluorescent lamp ballast. However,
fluorescent lamp ballasts are designed to operate fluorescent lamps and
therefore, the cost analysis accounts for the lamp-and-ballast system.
The analysis assumes a differing mixture of general service fluorescent
lamps (GSFL) and TLEDs operated by the ballasts. TLED prices are
expected to be affected by price learning and are expected to decline
significantly over the next 3 years. Therefore, to better represent the
total installed cost of the ballast and lamp systems, price learning
was applied to the lamps operated by the fluorescent lamp ballasts.
Because this proposed determination is not analyzing lamps, lamp
shipments and price information were not collected for this rulemaking.
Rather, price trend information for lamps was developed from the final
rule for the general service fluorescent lamps (GSFL) standards
rulemaking published in January 2015. 80 FR 4041 (January 26, 2015). As
discussed in this FLB NOPD TSD Appendix 8C, the GSFL price trends were
incorporated into the LCC analysis to account for learning in the lamp
manufacturing process. The distribution of lamps selected for use by
consumers is not expected to differ for ballasts at different
efficiency levels.
2. Installation Cost
Installation cost includes labor, overhead, and any miscellaneous
materials and parts needed to install the product. DOE used data from
RSMeans to estimate the baseline installation cost for fluorescent lamp
ballasts. For installation and repair costs, both NEMA and ULT found
the ones discussed in DOE's Framework document to be reasonable. (NEMA,
No. 12 at p. 11; ULT, No. 6 at p. 9) Philips also stated that it is
unlikely that installation costs would change for ballasts at different
efficiency levels. (Philips, No. 8 at p. 35) However, ULT cautioned
that if new ballasts required as part of a potential standard changed
in size, maintenance costs could change.
[[Page 56570]]
(ULT, Public Meeting Transcript, No. 5 at p. 96; ULT, No. 6 at p. 9)
DOE agrees and uses the same installation costs for ballasts at each
efficiency level. Per the engineering analysis, the ballasts at the
different efficiency levels are not expected to change in size at the
different efficiency levels and therefore would not affect installation
or maintenance costs as suggested by ULT. DOE found no evidence that
installation costs would be affected with increased efficiency levels.
3. Annual Energy Consumption
DOE determined the energy consumption for fluorescent lamp ballasts
at different efficiency levels using the approach described previously
in section IV.D of this document.
4. Energy Prices
DOE derived average annual electricity prices for 50 states plus
the District of Columbia using data from the EIA's Form EIA-861 annual
survey.\31\ EIA calculated average electric prices by dividing total
electric revenues by total kWh energy sales, using data aggregated by
customer class and by state. The NOPD analysis used the data for 2017,
with prices adjusted to 2018 dollars.
---------------------------------------------------------------------------
\31\ Available at https://www.eia.gov/electricity/data.php#sales.
---------------------------------------------------------------------------
To estimate energy prices in future years, DOE multiplied the
average state-level electricity prices by a projection of annual change
in regional electricity prices in the Annual Energy Outlook 2019
(AEO2019), which has an end year of 2050.\32\ The AEO includes price
projections by Census regions, which were used for the analyses
presented herein. To estimate future electricity prices, DOE uses the
price index for the regions corresponding to each state. To estimate
price trends after 2050, DOE used the average annual rate of change in
prices from 2040 through 2050.
---------------------------------------------------------------------------
\32\ U.S. Department of Energy--Energy Information
Administration. Annual Energy Outlook 2019 with Projections to 2050.
2019. Washington, DC. (AEO2019). Available at https://www.eia.gov/outlooks/aeo/.
---------------------------------------------------------------------------
Both ASAP and ULT stated that electricity prices can vary both
between utilities as well as a result of larger national trends like
distributed generation or Congressional requirements. ASAP suggested an
analysis that addressed uncertainty in the electricity market. (ASAP,
Public Meeting Transcript, No. 5 at p. 94; ULT, No. 6 at p. 6) DOE
accounted for considerable electricity price variability by using data
from 50 states plus the District of Columbia. Although this represents
a higher level of aggregation than utility-by-utility, it reflects the
considerable variability in electricity prices in the analysis and it
captures some of the policy and other trends alluded to by ASAP and ULT
insofar as the influx of distributed generation typically follows
state-level policies and legislation promoting such.
5. Maintenance and Repair Costs
Repair costs are associated with repairing or replacing product
components that have failed in an appliance; maintenance costs are
associated with maintaining the operation of the product. Typically,
small incremental increases in product efficiency produce no, or only
minor, changes in repair and maintenance costs compared to baseline
efficiency products. For this NOPD, DOE modeled ballasts as not being
repaired, and maintenance costs as lamp replacement costs only. Philips
agreed with DOE's proposal during the framework public meeting and in
written comments that ballasts are not repaired. (Philips, Public
Meeting Transcript, No. 5 at p. 95; Philips, No. 8 at p. 35) DOE agrees
and did not include ballast repair costs in the LCC analysis.
6. Product Lifetime
For fluorescent lamp ballasts, DOE used lifetime estimates from
manufacturer datasheets. In the Framework document, DOE estimated a
life of 50,000 hours for fluorescent lamp ballasts. Both NEMA and ULT
stated that the standard warranty period within the lighting industry
for fluorescent lamp ballasts is 3 to 5 years, depending on
application. (NEMA, No. 12 at p. 11; ULT, No. 6 at p. 9) Philips stated
they use 50,000 hours as useful life, but in certain circumstances
thermal effects can reduce this rated life value. Philips speculated
that, depending on the operating hours of the ballast, this translates
to 10-15 years as a reasonable estimate for FLB life. (Philips, No. 8
at p. 35) The number of years can vary in operation, and DOE used a
life value in total number of years rather than solely relying on
operating hours. For this analysis, DOE used a 12.5-year average
lifetime for the commercial sector, 11.4-year average lifetime for the
industrial sector, and 12.5-year average lifetime for the outdoor
sector. Combining DOE's estimate of 50,000 hours and the average
operating hours for fluorescent lamps in the commercial and industrial
sectors yielded average ballast lifetimes of 16.6 years and 11.4 years,
respectively. However, 16.6 years is significantly longer than the
lifetime of commercial ballasts used in the 2011 Ballast Rule. For that
final rule, DOE used 12.5 years, a value DOE found consistent with the
literature at the time of the analyses, and consistent with the comment
from Phillips. (Philips, No. 8 at p. 35) DOE has found no literature
confirming that the product lifetime would increase by 33 percent when
measured in years and focused instead on searching for evidence
contradicting the lifetime of 12.5 years. No such evidence was
identified. Thus, for the NOPD DOE assumed commercial ballasts would
have a 12.5-year average lifetime which, when multiplied by the average
commercial sector operating hours per year, yields a lifetime of
approximately 38,000 hours.
Replacement of fluorescent lamps have to be considered because it
is a cost that will be incurred by the consumer over the course of the
life of the fluorescent lamp ballast. GE stated that in contrast to
dimming incandescent lamps, dimming fluorescent lamps does not extend
lamp life. In fact, in some cases if not done properly, life can be
negatively affected. Overall, GE stated to not increase lamp life for
lamps operated on dimming ballasts compared to non-dimming ballasts.
(GE, Public Meeting Transcript, No. 5 at p. 95) Philips stated that
without knowing the extent of ballast modifications to meet a potential
new or amended standard, it was difficult to predict the effect on lamp
life. (Philips, No. 8 at p. 35) ASAP stated that the typical operating
life of a T8 fluorescent lamp is 20,000 hours and the advertised
lifespan range of TLED is 50,000 to 80,000 hours. (ASAP, No. 7 at p. 5)
DOE does not expect the fluorescent lamp life to extend as a result of
modifications to the ballasts. The life of the fluorescent lamps used
in the LCC analysis can be found in the engineering analysis. DOE used
a life of 50,000 hours for the TLEDs used in the analysis.
7. Discount Rates
In the calculation of LCC, DOE applies discount rates appropriate
to commercial, industrial, and residential consumers to estimate the
present value of future operating costs. DOE estimated a distribution
of discount rates for fluorescent lamp ballasts based on consumer
financing costs and the opportunity cost of consumer funds.
DOE applies weighted average discount rates calculated from
consumer debt and asset data, rather than marginal or implicit discount
rates.\33\ DOE notes
[[Page 56571]]
that the LCC does not analyze the product purchase decision, so the
implicit discount rate is not relevant in this model. The LCC estimates
NPV over the lifetime of the product, so the appropriate discount rate
will reflect the general opportunity cost of household or business
funds, taking this time scale into account. Given the long time frame
modeled in the LCC, the application of a marginal interest rate
associated with an initial source of funds is inaccurate. Regardless of
the method of purchase, consumers are expected to continue to rebalance
their debt and asset holdings over the LCC analysis period, based on
the restrictions consumers face in their debt payment requirements and
the relative size of the interest rates available on debts and assets.
DOE estimates the aggregate effect of this rebalancing using the
historical distribution of debts and assets.
---------------------------------------------------------------------------
\33\ The implicit discount rate is inferred from a consumer
purchase decision between two otherwise identical goods with
different first cost and operating cost. It is the interest rate
that equates the increment of first cost to the difference in net
present value of lifetime operating cost, incorporating the
influence of several factors: Transaction costs, risk premiums and
response to uncertainty, time preferences, and interest rates at
which a consumer is able to borrow or lend.
---------------------------------------------------------------------------
To establish residential discount rates for the LCC analysis, DOE
identified all relevant household debt or asset classes in order to
approximate a consumer's opportunity cost of funds related to appliance
energy cost savings. It estimated the average percentage shares of the
various types of debt and equity by household income group using data
from the Federal Reserve Board's Survey of Consumer Finances \34\ (SCF)
for 1995, 1998, 2001, 2004, 2007, 2010, 2013, and 2016. Using the SCF
and other sources, DOE developed a distribution of rates for each type
of debt and asset by income group to represent the rates that may apply
in the year in which amended standards would take effect. In the
Crystal Ball\TM\ analyses, for each of the 10,000 simulations, the
model selects an income group and then selects a discount rate from the
distribution for that group.
---------------------------------------------------------------------------
\34\ Board of Governors of the Federal Reserve System. Survey of
Consumer Finances. Available at https://www.federalreserve.gov/PUBS/oss/oss2/scfindex.html.
---------------------------------------------------------------------------
For commercial and industrial consumers, DOE used the cost of
capital to estimate the present value of cash flows to be derived from
a typical company project or investment. Most companies use both debt
and equity capital to fund investments, so the cost of capital is the
weighted-average cost to the firm of equity and debt financing. This
corporate finance approach is referred to as the weighted-average cost
of capital. DOE used currently available economic data in developing
discount rates. See chapter 8 of the NOPD TSD for details on the
development of consumer discount rates.
8. Energy Efficiency Distribution in the No-New-Standards Case
To accurately estimate the share of consumers that would be
affected by a potential energy conservation standard at a particular
efficiency level, DOE's LCC analysis considered the projected
distribution (market shares) of product efficiencies under the no-new-
standards case (i.e., the case without amended energy conservation
standards).
To estimate the energy efficiency distribution of fluorescent lamp
ballasts for 2023, DOE analyzed the distribution of ballasts in the
databases used in the engineering analysis. For the non-dimming
ballasts, the main source of information is the CCMS database. For non-
dimming ballasts, DOE relied on product offerings in manufacturer
catalogs. See chapter 8 of the NOPD TSD for the estimated efficiency
distributions.
9. Payback Period Analysis
The PBP is the amount of time it takes the consumer to recover the
additional installed cost of more-efficient products, compared to
baseline products, through energy cost savings. PBPs are expressed in
years. PBPs that exceed the life of the product mean that the increased
total installed cost is not recovered in reduced operating expenses.
The inputs to the PBP calculation for each efficiency level are the
change in total installed cost of the product and the change in the
first-year annual operating expenditures relative to the baseline. The
PBP calculation uses the same inputs as the LCC analysis, except that
discount rates are not needed.
EPCA, as amended, establishes a rebuttable presumption that a
standard is economically justified if the Secretary finds that the
additional cost to the consumer of purchasing a product complying with
an energy conservation standard level will be less than three times the
value of the first year's energy savings resulting from the standard,
as calculated under the applicable test procedure. (42 U.S.C.
6295(o)(2)(B)(iii)) For each considered efficiency level, DOE
determined the value of the first year's energy savings by calculating
the energy savings in accordance with the applicable DOE test
procedure, and multiplying those savings by the average energy price
projection for the year in which compliance with the amended standards
would be required.
F. Shipments Analysis
DOE uses projections of annual product shipments to calculate the
national impacts of potential amended energy conservation standards on
energy use, NPV, and future manufacturer cash flows.\35\ The shipments
model takes an accounting approach in tracking market shares of each
product class and the vintage of units in the stock. Stock accounting
uses product shipments as inputs to estimate the age distribution of
in-service product stocks for all years. The age distribution of in-
service product stocks is a key input to calculations of both the NES
and NPV, because operating costs for any year depend on the age
distribution of the stock. DOE received many comments on the shipments
and trends related to fluorescent lamp ballasts. Overall, the market is
declining; however, DOE received comments on the different rates of
decline.
---------------------------------------------------------------------------
\35\ DOE uses data on manufacturer shipments as a proxy for
national sales, as aggregate data on sales are lacking. In general,
one would expect a close correspondence between shipments and sales.
---------------------------------------------------------------------------
Philips stated that DOE should be working with NEMA in order to
obtain market shipment data and, if needed, Philips can work with NEMA
to supply the data. Philips also stated that they would provide data to
DOE during the interview process. (Philips, No. 8 at pp. 12-13) DOE did
receive data from NEMA in written comments that provided indexed values
of shipments for a recent set of years. (NEMA, No. 12, at p. 4) DOE
also used aggregated data gathered from manufacturers to calibrate the
current volume of shipments.
Philips suggested resources for projecting lighting shipments, not
just FLB shipments, from Strategies Unlimited, other DOE publications,
and NEMA. (Philips, No. 8 at p. 39) DOE reviewed the materials
suggested by Philips as well as other data sources to generate shipment
projections.
NEMA, Philips, and ULT provided in written comments a graph of
fluorescent lamp ballasts indexed to 2010 and shipments through 2014 as
a percentage of the index year. This figure indicates a declining
market for fluorescent lamp ballasts. (NEMA, No. 12 at pp. 4; Philips,
No. 8 at p. 39; ULT, No. 6 at pp. 3-4) NEMA attributes the decline to
solid-state lighting and expects the decline to continue into the
future. (NEMA, No. 12 at p. 11) NEMA and ULT speculated that based on
the data in the figure and certain fit functions that circa 2018 that
FLB shipments would end. (NEMA, Public Meeting Transcript, No. 5 at pp.
9-11; ULT, No. 6 at pp. 3-4) However, NEMA did speculate that although
an analysis of the data provided suggests an end of the
[[Page 56572]]
FLB market in 2018, it is probably not realistic. (NEMA, Public Meeting
Transcript, No. 5 at pp. 9-11) DOE agrees that the market for
fluorescent lamp ballasts is declining. DOE modeled a rapid decline in
shipment scenario #1 based on these data provided. NEMA suggested that
the ballast shipments curtailing in 2018 was based on 2010 to 2014
shipment data and a second degree polynomial fit standard S-curve shape
function. (NEMA, Public Meeting Transcript, No. 5 at p. 9) Shipment
scenario #1 was modeled as a similar S-curve shaped function with
shipments curtailing shortly after the start of the analysis period.
Philips stated that the submitted figure indicates the FLB market
is declining at a fast rate. Philips speculated that the market was
declining at a rate of about 20 percent per year. According to Philips,
LED technologies are competing with fluorescent light sources to
illuminate the same spaces and LED prices are decreasing whereas
fluorescent technologies are mature. This is one of the reasons for
declining FLB shipments. (Philips, No. 8 at pp. 16, 39) Philips also
commented that it has reduced the number of its factories manufacturing
fluorescent lamp ballasts from five to one. (Philips, Public Meeting
Transcript, No. 5 at p. 55) Lutron stated that FLB shipments are
declining at an accelerating rate and potential new amended standards
can only affect shipments. (Lutron, Public Meeting Transcript, No. 5 at
p. 41) DOE agrees that the market for fluorescent lamp ballasts is
declining. DOE modeled a rate of decline similar to the 20-percent rate
suggested by Philips in shipment scenario #2 based on the data
provided.
NEEA mentioned that 10 percent of lamps sales are T12 lamps.
Although T12 lamps are less efficient, as legacy products they can have
a significant life and sizeable volume of shipments. NEEA also stated
that ballasts have a longer life than fluorescent lamps. (NEEA, Public
Meeting Transcript, No. 5 at pp. 40-41) GE acknowledged that although
certain ballasts have long lives and there might be legacy products
still in operation, the lighting industry is currently at the trailing
end of those systems. (GE, Public Meeting Transcript, No.5 at p. 55)
ULT stated during the framework public meeting that the retrofit
market is very small and little retrofitting is occurring in the
market. (ULT, Public Meeting Transcript, No. 5 at pp. 105-106)
ULT stated that LED lighting penetration is increasing in the new
construction market, and ULT expected 90 to 95 percent penetration near
2017. Beyond new construction, rebates for fluorescent lamp ballasts
and FLB retrofit kits are virtually nonexistent as utilities and other
energy efficiency programs are incentivizing LED technologies. (ULT,
Public Meeting Transcript, No. 5 at pp. 104-106)
NEMA and ULT stated that there is no indication of growth in the
FLB market and every segment is declining. Both NEMA and ULT suggested
that new construction is moving to SSL and by the effective date of a
potential standard all new construction will utilize SSL. Rebates for
fluorescent systems have declined and in some markets disappeared. Both
NEMA and ULT expected these trends to continue through the analysis
period of the potential rule. (NEMA, No. 12 at p. 11; ULT, No. 6 at p.
9) DOE agrees and has modeled all shipment scenarios as declining
markets.
CA IOUs stated that it is generally accepted that the LED market is
growing quickly as LED performance improves and prices come down, and
that as a result, LEDs are generally expected to expand into most
applications in the coming years. (CA IOUs, No. 10 at p. 11) DOE agrees
and has modeled all shipment scenarios as declining markets.
ASAP stated that the widespread installation of UL Type A TLEDs
could create an extended ``hybrid'' phase where an LED light source is
driven by a ballast designed for a fluorescent light source. (ASAP, No.
7 at p. 5) DOE agrees that this could be a possibility. Shipment
scenarios #3 and #4 differ in rates of decline partially to address
this aspect of the use of UL Type A TLEDs, which are designed to
operate on existing fluorescent lamp ballasts.
1. Shipment Scenarios Modeled
DOE agrees with the commenters that FLB shipments are declining.
DOE modeled four different no-new-standards shipment scenarios. These
scenarios include the following:
(1) Scenario #1--declining shipments that all terminate in 2024.
This scenario is based on the data supplied by NEMA and others
depicting the decline between 2010 and 2014. The scenario also assumes
that all new construction migrates to other light sources than
fluorescent technology.
(2) Scenario #2--declining shipments that all terminate in 2040.
This scenario is based on comments from manufacturers during the
interview process and written comments of a reduction in shipments of
10 to 20 percent per year. This scenario assumes that most new
construction is utilizing other light sources besides fluorescent
technology.
(3) Scenario #3--declining shipments that approach zero near the
end of the analysis period. This scenario is based on data of shipments
of other lighting technologies publicly available. The rate of decline
is less compared to the previous scenarios partially also to address
comments received about UL Type A TLEDs operating on fluorescent lamp
ballasts.
(4) Scenario #4--declining shipments that terminate near the end of
the analysis period. This scenario is based on a slower decline rate in
the initial part of the analysis period.
DOE presents in this proposed determination the results of analysis
for each of the shipment scenarios, but shipment scenario #3 is the
Reference Case. This scenario is consistent with other estimates of
fluorescent technology in the analysis period.
Beyond the no-new-standards case, DOE also received comments about
potential standards-induced changes to shipments and thus the effects
on NIA. CA IOUs stated that DOE should account for additional energy
savings resulting from an accelerated shift to LED lighting induced by
more stringent standards for fluorescent lamp ballasts. (CA IOUs, No.
10 at p. 11) Philips also commented that it would be worthwhile to
consider the effect of a new ballast energy efficiency rule if ballast
declines continued at a faster rate. (Philips, No. 8 at p. 39) Philips
speculated that if the incremental ballast price from ballast
modifications necessary for compliance to a potential new and amended
standard does not pay back within 2 years using the incremental energy
savings, customers will choose something else and in reality it will
lead to greater LED adoption. (Philips, No. 8 at pp. 36-37)
Lutron stated that FLB shipments are declining at an accelerating
rate and potential new amended standards can only affect shipments.
(Lutron, Public Meeting Transcript, No. 5 at p. 41) CA IOUs stated that
first costs can still be a barrier to LED adoption and if potential new
energy efficiency standards for fluorescent lamp ballasts increase the
costs for the ballasts, the result will likely accelerate the shift
towards more efficient LEDs. (CA IOUs, No. 10 at p. 11) NEEA stated
during the framework public meeting that shipment rates of different
technologies will depend on the price relationship of the different
technologies. (NEEA, Public Meeting Transcript, No. 5 at pp. 99-101)
[[Page 56573]]
DOE agrees that there is a possibility that standards could induce
consumers to opt for different technologies other than fluorescent lamp
ballasts. Utilizing the shipments model, DOE modeled within the NIA
model a potential standards-induced shift to SSL.
2. Dimming Ballasts
NEMA and manufacturers stated that the dimming ballast market was
small, not growing, and possibly that dimming ballasts would not be
shipped by the start of the analysis period. In contrast, ASAP, SCE,
and CA IOUs speculated growth in the dimming ballast market. (CA IOUs,
Public Meeting Transcript, No. 5 at pp. 24, 106)
NEMA stated that dimmable linear fluorescent lamp ballasts are
roughly 2 percent of the overall FLB market. NEMA speculated that this
small portion did not represent significant energy savings potential.
Dimming ballast shipments have been declining for the last 5 years,
according to NEMA and Lutron. (Lutron, No. 9 at p. 2; NEMA, No. 12 at
pp. 3-4, 11) NEMA believes that dimming ballast shipments will continue
to decline into the future like all other linear FLB shipments.
Finally, Lutron and NEMA speculated that standards on dimming ballasts
may reduce shipments of ballasts. (Lutron, No. 9 at p. 2; NEMA, No. 12
at pp. 3-4, 11)
GE stated that other than in California, that most retrofits of FLB
systems do not include dimming ballasts. GE discussed during the
framework public meeting that California was considering modifying the
requirements of dimming ballasts in retrofit applications in Title 24
because of claims of negative effects on the retrofit market. (GE,
Public Meeting Transcript, No. 5 at pp. 25-26)
Lutron commented during the public meeting that the requirements in
California's Title 24 had changed and the adoption of dimming ballasts
in retrofit applications is unknown at this time. (Lutron, Public
Meeting Transcript, No. 5 at pp. 27-28) During the public meeting,
Lutron stated that they believe it is prudent for DOE to assume that
all dimming ballasts that are going to be available after the rule
becomes effective are already in the market. (Lutron, Public Meeting
Transcript, No. 5 at p. 104) In contrast, during the framework public
meeting, CA IOUs stated that they expected the absolute number or the
percentage of dimming FLB shipments to increase. (CA IOUs, Public
Meeting Transcript, No. 5 at p. 106)
ULT commented that although California's Title 24 required the
installation of dimming ballasts, sites were installing TLEDs to not
trigger the energy code. ULT stated that as a result, there would be
probably fewer dimming systems than compared to previous analysis.
(ULT, Public Meeting Transcript, No. 5 at pp. 29-31)
ASAP stated that the revised California Title 24 would dramatically
alter the market for fluorescent lamp ballasts within California,
resulting in greater sales of ballasts capable of dimming below 50
percent full light output. ASAP expected the change in California to
affect other states and that dimming ballasts will be in greater
demand. (ASAP, No. 7 at p. 2)
Utility rebates for most fluorescent lamp ballasts have
disappeared, but SCE did state that some rebates still exist for
dimming ballasts as they related to demand response. (SCE, Public
Meeting Transcript, No. 5 at pp. 109-110)
CA IOUs stated during the framework public meeting that the dimming
ballast requirements within California's Title 24 is having a major
effect on the dimming ballast market within California. The 2016
version of Title 24 essentially requires new construction to use linear
fluorescent and that the ballast be a dimming ballast. Title 24
installation of dimming ballast requirements also apply to retrofit
applications. (CA IOUs, Public Meeting Transcript, No. 5 at pp. 23-24)
NEEA also added during the framework public meeting that the four
states in the Pacific Northwest might have dimming ballast requirements
similar to Title 24 by the time any potential rule goes into effect.
(NEEA, Public Meeting Transcript, No. 5 at p. 24) NEMA stated that they
would review its data to see if it could determine any effects on
dimming ballast shipments as a result of the Title 24 requirements.
(NEMA, Public Meeting Transcript, No. 5 at p. 25)
As stated earlier, DOE agrees with commenters that the overall FLB
market is declining. Although dimming ballasts may be a smaller portion
of the entire FLB market, DOE does not have enough information to
indicate a significantly different rate of decline for dimming ballasts
compared to the larger FLB market. DOE modeled the same rate of decline
for dimming ballasts as other similar non-dimming fluorescent lamp
ballasts operating the same type and quantity of lamps in each of the
four different scenarios.
GE speculated that if a potential new standard resulted in a very
expensive fluorescent dimming ballast, it would accelerate new
construction use of LEDs if they wanted a system that dims. (GE, Public
Meeting Transcript, No. 5 at p. 101) Lutron speculated that setting
efficiency standards too aggressively will only hasten the decline of
dimming ballasts. (Lutron, No. 9 at p. 3) DOE agrees that potential
standards could induce a shift from dimming fluorescent lamp ballasts
to solid-state lighting. As part of the NIA analysis, DOE included a
secondary analysis of a standards-induced shift from dimming ballasts
to SSL.
3. Tubular LEDs
During the framework public meeting, SCE stated that many lighting
customers are focused on inexpensive solutions and often consider
retrofitting options rather than replacing the entire system.
Specifically, replacing fluorescent lamps with TLEDs is an option that
many customers consider. (SCE, Public Meeting Transcript, No. 5 at p.
39) CA IOUs agreed with other commenters that LED products are
increasing across many applications, but fluorescent lighting is still
prevalent across many sectors. Many manufacturers offer UL Type A TLEDs
that are designed to operate on existing fluorescent lamp ballasts and
thus the potential need for fluorescent lamp ballasts to exist. (CA
IOUs, No. 10 at pp. 1-2)
DOE agrees that TLEDs are currently desired as a low-cost initial
energy option and that the use of TLEDs is growing. DOE included in the
NIA analysis a greater penetration of UL Type A TLEDs through the
course of the analysis period.
GE views the retrofitting of fluorescent luminaires with TLEDs as a
short-term solution while the larger new installation market moves to
dedicated LED systems. In 10 or 15 years, more dedicated LED systems
will be installed and fewer TLEDs will be retrofitting fluorescent
luminaires. (GE, Public Meeting Transcript, No. 5 at p. 39) ASAP also
speculates that if TLEDs have lifetimes equal or longer than the
lifetimes of the fluorescent lamp ballasts that operate them, the TLEDs
could disrupt the normal fluorescent maintenance and replacement cycle.
Currently ballast failure in a fluorescent luminaire can present a
cost-effective opportunity for luminaire replacement with a LED
luminaire. However, if the fluorescent lamps have been replaced with
TLEDs and the ballast fails at a later point, this might no longer
present a cost-effective opportunity to convert the fixture to a
dedicated LED luminaire. ASAP cautioned that this might increase the
volume of UL Type A TLEDs that operate on a fluorescent lamp ballast.
(ASAP, No. 7 at p. 5)
ASAP stated that the widespread installation of TLEDs could create
an
[[Page 56574]]
extended ``hybrid'' phase where a LED light source is driven by a
ballast designed for a fluorescent light source. (ASAP, No. 7 at p. 5)
Philips stated that retrofit jobs using TLEDs to replace linear
fluorescent lamps is a big trend, noting that the prevalence of TLEDs
operating on fluorescent lamp ballasts is growing rapidly. (Philips,
No. 8 at pp. 12, 38)
DOE agrees that the use of UL Type A TLEDs can achieve early energy
savings that might prolong the conversion of the lighting system to
other technologies. DOE also agrees that this might encourage sites
using UL Type A TLEDs to replace a failed fluorescent lamp ballast with
another fluorescent lamp ballast to continue the life of the lighting
system. Shipment scenarios #3 and #4 incorporate the prolonged
shipments of fluorescent lamp ballasts to service systems modified to
use UL Type A TLEDs.
Lutron did not believe that there was a scenario where a consumer
would purchase a TLED and a fluorescent lamp ballast in a new system.
(Lutron, Public Meeting Transcript, No. 5 at p. 84) DOE disagrees with
Lutron. DOE's research indicates at least a few UL Type A TLED
manufacturers provide warranties for UL Type A TLEDs that are directly
related to the installation of a new ballast. However, DOE stipulates
that this is rare combination and that the major benefit of UL Type A
TLEDs is that this type TLED can operate on the existing fluorescent
lamp ballasts, thus reducing initial costs of installation.
DOE seeks comment whether the shipment scenarios under various
policy scenarios are reasonable and likely to occur. DOE seeks comment
and information on whether dimming ballasts should have a different
rate of decline than the similar non-dimming fluorescent lamp ballasts.
DOE seeks comments on which shipment scenario most accurately
characterizes future dimming FLB shipments. DOE seeks comments on which
of the four scenarios best characterize future shipments of fluorescent
lamp ballasts. See section VII.C for a list of issues on which DOE
seeks comment. Chapter 9 of the NOPD TSD provides details on DOE's
shipments analysis for fluorescent lamp ballasts.
G. National Impact Analysis
The NIA assesses the NES and the NPV from a national perspective of
total consumer costs and savings that would be expected to result from
amended standards at specific efficiency levels.\36\ (``Consumer'' in
this context refers to consumers of the product being regulated.) DOE
calculates the NES and NPV for the potential standard levels considered
based on projections of annual product shipments, along with the annual
energy consumption and total installed cost data from the energy use
and LCC analyses. For the present analysis, DOE projected the energy
savings, operating cost savings, product costs, and NPV of consumer
benefits over the lifetime of fluorescent lamp ballasts sold from 2023
through 2052.
---------------------------------------------------------------------------
\36\ The NIA accounts for impacts in the 50 states and
Washington, D.C.
---------------------------------------------------------------------------
DOE evaluates the effects of amended standards by comparing a case
without such standards with standards-case projections. The no-new-
standards case characterizes energy use and consumer costs for each
product class in the absence of amended energy conservation standards.
For this projection, DOE considers historical trends in efficiency and
various forces that are likely to affect the mix of efficiencies over
time. DOE compares the no-new-standards case with projections
characterizing the market for each product class if DOE adopted amended
standards at specific energy efficiency levels (i.e., the ELs or
standards cases) for that class. For the standards cases, DOE considers
how a given standard would likely affect the market shares of products
with efficiencies greater than the standard.
DOE uses a spreadsheet model to calculate the energy savings and
the national consumer costs and savings from each EL. Interested
parties can review DOE's analyses by changing various input quantities
within the spreadsheet. The NIA spreadsheet model uses typical values
(as opposed to probability distributions) as inputs.
Table IV.13 summarizes the inputs and methods DOE used for the NIA
analysis for the NOPD. Discussion of these inputs and methods follows
the table. See chapter 10 of the NOPD TSD for details.
Table IV.13--Summary of Inputs and Methods for the National Impact
Analysis
------------------------------------------------------------------------
Inputs Method
------------------------------------------------------------------------
Shipments.................... Annual shipments from shipments model.
Modeled Compliance Date of 2023.
Standard.
Efficiency Trends............ No-new-standards case. Standards cases.
Annual Energy Consumption per Annual weighted-average values are a
Unit. function of energy use at each EL.
Total Installed Cost per Unit Annual weighted-average values are a
function of cost at each EL.
Incorporates projection of future
product prices based on historical data.
Annual Energy Cost per Unit.. Annual weighted-average values as a
function of the annual energy
consumption per unit and energy prices.
Repair and Maintenance Cost Annual values do not change with
per Unit. efficiency level.
Energy Prices................ AEO2019 projections (to 2050) and
extrapolation through 2061.
Energy Site-to-Source and FFC A time-series conversion factor based on
Conversion. AEO2019 and/or the NEMS model.
Discount Rate................ 3 percent and 7 percent.
Present Year................. 2018.
------------------------------------------------------------------------
ULT stated that the NIA should rely on input from manufacturers.
(ULT, No. 6, at p. 10) Input from manufacturers as well as others was
captured via the comment process, and DOE considered the comments in
the development of the inputs that affect the NIA. Interviews were
conducted with manufacturers as part of the preliminary analysis
process, and DOE incorporated aggregated feedback during these
interviews into the inputs that feed the NIA.
During the framework public meeting, CA IOUs requested that DOE
provide interim values for statewide energy savings and unit savings
within the model. (CA IOUs, Public Meeting Transcript, No. 5 at pp.
111-112) NEMA also requested modifications to the typical NIA models
during the framework public meeting. NEMA
[[Page 56575]]
stated that for other rules, the NIA model is locked and certain inputs
cannot be modified or model elements are not readily understandable in
the TSD. (NEMA, Public Meeting Transcript, No. 5 at pp. 116-118) DOE
acknowledges these requests. The LCC provides unit-level savings. DOE
also provides detail as to how the model works and how it can be
modified in chapter 10 and appendix 10A of the NOPD TSD.
1. Product Efficiency Trends
A key component of the NIA is the trend in energy efficiency
projected for the no-new-standards case and each of the standards
cases. Section IV.E.8 of this document describes how DOE developed an
energy efficiency distribution for the no-new-standards case (which
yields a shipment-weighted average efficiency) for each of the
considered product classes for the year of anticipated compliance with
an amended standard.
For the standards cases, DOE used a ``roll-up'' scenario to
establish the shipment-weighted efficiency for the year that standards
are assumed to become effective (2023). In this scenario, the market
shares of products in the no-new-standards case that do not meet the
standard under consideration would ``roll up'' to meet the amended
standard level, and the market share of products above the standard
would remain unchanged.
ASAP recommended analyzing the TLED market to evaluate its effect
on the overall energy savings over time. (ASAP, No. 7 at p. 5) DOE
includes a change in UL Type A TLED penetration over time in this
analysis. As the mixture of lamps operated by the ballast changes to
include differing amount of UL Type A TLEDs, the NES is affected.
CA IOUs suggested accounting for energy savings from standards-
induced shifts away from fluorescent lamp ballasts. CA IOUs raised a
concern if the analysis only examined fluorescent lamp ballasts and not
the energy savings of potential shifts to other lighting technologies.
(CA IOUs, Public Meeting Transcript, No. 5 at pp. 103-104; CA IOUs, No.
10 at p. 11) Lutron stated that FLB shipments are declining at an
accelerating rate and potential new amended standards can only affect
shipments. (Lutron, Public Meeting Transcript, No. 5 at p. 41) Also
during the framework public meeting, NEEA discussed the possibility of
setting a potential standard for dimming ballasts that would eliminate
some of the dimming ballasts. NEEA suggested that consumers would
switch to LED options. NEEA suggested that there should be a scenario
that examines consumers switching to LED systems. (NEEA, Public Meeting
Transcript, No. 5 at p. 102)
DOE has included within the NIA model a standards-induced shift
scenario in which if EL 1 is selected 25 percent of the consumers would
migrate to a new LED technology. If EL 2 is selected 50 percent of the
consumers would migrate to a new LED technology, and if EL 3 is
selected 75 percent of the consumers would migrate to a new LED
technology. Within the NIA model, the percentage of customers migrating
away is not fixed and can be changed by the user.
Philips speculated that if the incremental ballast price from
ballast modifications necessary for compliance to a potential new,
amended standard does not pay back within 2 years using the incremental
energy savings, customers will choose something else, and in reality it
will lead to additional LED adoption. (Philips, No. 8 at pp. 36-37) CA
IOUs stated that first costs can still be a barrier to LED adoption,
and if potential new energy efficiency standards for fluorescent lamp
ballasts increase the costs for the ballasts, the result will likely
accelerate the shift towards more efficient LEDs. (CA IOUs, No. 10 at
p. 11)
Within DOEs standard-induced shift away from a FLB scenario, DOE
modeled the shift to occur at different increments at each EL and not
at a specific PBP or specific increase in FLB price. The PBPs vary for
all of the product classes and ballasts. The potential cost
differential between the baseline ballast and a more efficient EL
ballast vary across the products classes as well.
NEEA stated that although LED replacements of traditional lighting
are more expensive than traditional lighting systems, the prices will
reduce over time. (NEEA, Public Meeting Transcript, No. 5 at p. 99)
However, NEEA also stated that the price of FLB systems is known,
whereas the price of LED systems in the future is a much bigger
variable. (NEEA, Public Meeting Transcript, No. 5 at pp. 101-102)
Philips concurred that although LED prices were initially higher, they
have reduced and they will be lower cost in the future. (Philips,
Public Meeting Transcript, No. 5 at pp. 102-103)
DOE agrees that the potential LED options may have a greater
initial cost than a potential compliant fluorescent lamp ballast.
Within the standards-induced shift away from the FLB scenario, DOE
assumed an equal mixture of TLEDs (UL Type B and C), LED retrofit kits,
and new LED luminaires. DOE researched public pricing for each of these
devices and developed and aggregate price for the potential LED option.
DOE also developed an aggregate device efficacy for the potential
option. Using DOE forecasts for future efficacy improvements circa
2023, DOE modeled the efficacy for the LED option in 2023. Using the
engineering analysis and system light output, DOE reverse-engineered
the input power and price for the LED option. For more information on
the methodology refer to the Appendix 10D of chapter 10 of the NOPD
TSD.
DOE seeks comment on the percentage of customers to model in a
standards-induced shift that would migrate away from FLB technology.
DOE seeks comments on the specific incremental cost in fluorescent lamp
ballasts that could trigger a standards-induced shift away from
fluorescent lamp ballasts. DOE seeks comment on the approach for input
power and price for LED devices considered in a standards-induced
shift. See section VII.C for a list of issues on which DOE seeks
comment.
DOE seeks comment on any potential impediments that would prevent
users of fluorescent lamp ballasts from switching to LED lighting to
garner additional energy savings. DOE seeks comment on the expected
effect of potential standards on the rate at which FLB consumers
transition to non-FLB technology. See section VII.C for a list of
issues on which DOE seeks comment. Chapter 10 of the NOPD TSD provides
details on DOE's NIA for fluorescent lamp ballasts.
2. National Energy Savings
The NES analysis involves a comparison of national energy
consumption of the considered products between each potential standards
case (EL) and the case with no new or amended energy conservation
standards. DOE calculated the national energy consumption by
multiplying the number of units (stock) of each product (by vintage or
age) by the unit energy consumption (also by vintage). DOE calculated
annual NES based on the difference in national energy consumption for
the no-new-standards case and for each higher efficiency standard case.
DOE estimated energy consumption and savings based on site energy and
converted the electricity consumption and savings to source energy
(i.e., the energy consumed by power plants to generate site
electricity) using annual conversion factors derived from AEO2019.
Cumulative energy
[[Page 56576]]
savings are the sum of the NES for each year over the timeframe of the
analysis.
In 2011, in response to the recommendations of a committee on
``Point-of-Use and Full-Fuel-Cycle Measurement Approaches to Energy
Efficiency Standards'' appointed by the National Academy of Sciences,
DOE announced its intention to use FFC measures of energy use and
greenhouse gas and other emissions in the NIA and emissions analyses
included in future energy conservation standards rulemakings. 76 FR
51281 (Aug. 18, 2011). After evaluating the approaches discussed in the
August 18, 2011 notice, DOE published a statement of amended policy in
which DOE explained its determination that EIA's National Energy
Modeling System (NEMS) is the most appropriate tool for its FFC
analysis and its intention to use NEMS for that purpose. 77 FR 49701
(Aug. 17, 2012). NEMS is a public domain, multi-sector, partial
equilibrium model of the U.S. energy sector \37\ that EIA uses to
prepare its AEO. The FFC factors incorporate losses in production, and
delivery in the case of natural gas, (including fugitive emissions) and
additional energy used to produce and deliver the various fuels used by
power plants. The approach used for deriving FFC measures of energy use
and emissions is described in appendix 10B of the NOPD TSD.
---------------------------------------------------------------------------
\37\ For more information on NEMS, refer to The National Energy
Modeling System: An Overview 2009, DOE/EIA-0581(2009), October 2009.
Available at https://www.eia.gov/analysis/pdfpages/0581(2009)index.php.
---------------------------------------------------------------------------
ULT stated that the NIA model needs to include a declining market
for fluorescent lamp ballasts. (ULT, No. 6 at p. 10) DOE agrees with
ULT and has included declining shipment scenarios within the shipment
analysis (chapter 10 of the NOPD TSD). The shipments analysis serves as
part of the basis of the NIA model, and thus the NIA model includes a
declining shipments scenario for fluorescent lamp ballasts.
NEMA and ULT stated that the NIA model should include the energy
reduction from the natural shift to solid-state lighting. (NEMA, No. 12
at p. 12; ULT, No. 6 at p. 10) As stated previously, the preliminary
analysis shipment model includes a declining market scenario that
includes a shift to solid-state lighting. This decline of fluorescent
lamps ballasts in transition to SSL is in the absence of standards (a
natural shift). This decline occurs in the no-new-standards case. The
NIA model characterizes the energy usage of the fluorescent lamp
ballast and compares the energy usage in both a no-new-standards and a
standards scenario. However, DOE has included within the NIA model a
scenario in which potential standards accelerate the shift away from
fluorescent lamp ballasts to SSL (standards-induced shift).
Both NEMA and ULT suggested that the NIA model should focus on the
effects of potential standards on drawing resources from lighting
manufacturers from other technologies (i.e., SSL) to comply with
potential standards. (NEMA, No. 12 at p. 12; ULT, No. 6 at p. 10) DOE
has not analyzed the potential effects of standards on resources and
investments of manufacturers as part of the NIA. The MIA assesses the
investments manufacturers must make to comply with potential standards
(see section IV.H).
During the framework public meeting, Lutron inquired whether DOE
could take credit for energy savings resulting from dimming ballast
standards across the country. California's Title 20 already contains a
dimming standard, and therefore Lutron suggested that DOE should only
include energy saving projections from the rest of the country and not
in California. (Lutron, Public Meeting Transcript, No. 5 at pp. 27-28)
The NIA model uses inputs from the shipments analysis factors in
distributions of different values of efficiency of ballasts. Therefore,
the ballasts that comply with California's Title 20 are incorporated
into the shipments model and thus the NIA model. If a potential
standard shifts ballasts to the California Title 20 values, any related
savings (or lack of savings because of already compliant ballasts)
would be captured by the NIA model.
3. Net Present Value Analysis
The inputs for determining the NPV of the total costs and benefits
experienced by consumers are (1) total annual installed cost, (2) total
annual operating costs (energy costs and repair and maintenance costs),
and (3) a discount factor to calculate the present value of costs and
savings. DOE calculates net savings each year as the difference between
the no-new-standards case and each standards case in terms of total
savings in operating costs versus total increases in installed costs.
DOE calculates operating cost savings over the lifetime of each product
shipped during the projection period.
DOE developed FLB price trends based on historical pricing
information for electronic ballasts. DOE applied the same trends to
project prices for each product class at each considered efficiency
level. By 2052, which is the end date of the projection period, the
average FLB price is projected to drop 8.2 percent relative to 2016.
DOE's projection of product prices is described in appendix 8C of the
NOPD TSD.
The operating cost savings are energy cost savings, which are
calculated using the estimated energy savings in each year and the
projected price of the appropriate form of energy. To estimate energy
prices in future years, DOE multiplied the average regional energy
prices by the projection of annual national-average residential energy
price changes in the Reference Case from AEO2019, which has an end year
of 2050.
In calculating the NPV, DOE multiplies the net savings in future
years by a discount factor to determine their present value. For this
NOPD, DOE estimated the NPV of consumer benefits using both a 3-percent
and a 7-percent real discount rate. DOE uses these discount rates in
accordance with guidance provided by the Office of Management and
Budget (OMB) to Federal agencies on the development of regulatory
analysis.\38\ The discount rates for the determination of NPV are in
contrast to the discount rates used in the LCC analysis, which are
designed to reflect a consumer's perspective. The 7-percent real value
is an estimate of the average before-tax rate of return to private
capital in the U.S. economy. The 3-percent real value represents the
``social rate of time preference,'' which is the rate at which society
discounts future consumption flows to their present value.
---------------------------------------------------------------------------
\38\ United States Office of Management and Budget. Circular A-
4: Regulatory Analysis. September 17, 2003. Section E. Available at
https://obamawhitehouse.archives.gov/omb/memoranda_m03-21/.
---------------------------------------------------------------------------
H. Manufacturer Impact Analysis
DOE performed an MIA to estimate the financial impacts of potential
amended energy conservation standards on manufacturers of fluorescent
lamp ballasts. DOE relied on GRIM, an industry cash flow model with
inputs specific to this rulemaking. The key GRIM inputs include data on
the industry cost structure, unit production costs, product shipments,
manufacturer markups, and investments in research and development (R&D)
and manufacturing capital required to produce compliant products. The
key GRIM outputs are the industry net present value (INPV), which is
the sum of industry annual cash flows over the analysis period,
discounted using the industry-weighted average cost of capital, and the
impact to domestic manufacturing employment. The GRIM calculates cash
flows using standard accounting principles and compares
[[Page 56577]]
changes in INPV between the no-new-standards case and each standards
case. The difference in INPV between the no-new-standards case and a
standards case represents the financial impact of the amended energy
conservation standard on manufacturers. To capture the uncertainty
relating to manufacturer pricing strategies following amended
standards, the GRIM estimates a range of possible impacts under
different markup scenarios.
DOE created initial estimates for the industry financial inputs
used in the GRIM (e.g., tax rate; working capital rate; net property
plant and equipment expenses; selling, general, and administrative
(SG&A) expenses; R&D expenses; depreciation expenses; capital
expenditures; and industry discount rate) based on publicly available
sources, such as company filings of form 10-K from the SEC or corporate
annual reports.\39\ DOE then further calibrated these initial estimates
during manufacturer interviews to arrive at the final estimates used in
the GRIM.
---------------------------------------------------------------------------
\39\ 10-Ks are collected from the SEC's EDGAR database: https://www.sec.gov/edgar.shtml or from annual financial reports collected
from individual company websites.
---------------------------------------------------------------------------
The GRIM uses several factors to determine a series of annual cash
flows starting with the announcement of potential standards and
extending over a 30-year period following the compliance date of
potential standards. These factors include annual expected revenues,
costs of sales, SG&A and R&D expenses, taxes, and capital expenditures.
In general, energy conservation standards can affect manufacturer cash
flow in three distinct ways: (1) Creating a need for increased
investment, (2) raising production costs per unit, and (3) altering
revenue due to higher per-unit prices and changes in sales volumes.
The GRIM spreadsheet uses inputs to arrive at a series of annual
cash flows, beginning in 2019 (the reference year of the analysis) and
continuing to 2052. DOE calculated INPVs by summing the stream of
annual discounted cash flows during this period. DOE used a real
discount rate of 9.6 percent for FLB manufacturers. This initial
discount rate estimate was derived using the capital asset pricing
model in conjunction with publicly available information (e.g., 10-year
treasury rates of return and company specific betas). DOE then
confirmed this initial estimate during manufacturer interviews.
Additional details about the GRIM, the discount rate, and other
financial parameters can be found in chapter 11 of the NOPD TSD.
1. Manufacturer Production Costs
Manufacturing more efficient fluorescent lamp ballasts is typically
more expensive because of the use of more complex components, which are
typically more costly than baseline components. The changes in the MPCs
of covered products can affect the revenues, gross margins, and cash
flow of the industry. Typically, DOE develops MPCs for the covered
products using reverse-engineering. These costs are used as an input to
the LCC analysis and NIA. However, because ballasts are difficult to
reverse-engineer, DOE directly derived end-user prices in the
engineering analysis and then used the end-user prices in conjunction
with markups to calculate the MPCs of fluorescent lamp ballasts. See
section IV.C for a further explanation of product price determination.
To determine MPCs of fluorescent lamp ballasts from the wholesale
prices calculated in the engineering analysis, DOE divided the
wholesale prices by the wholesaler markup to calculate the MSP. DOE
then divided the MSP by the manufacturer markup to get the MPCs. DOE
determined the wholesaler markup to be 1.23 and the manufacturer markup
to be 1.40 for all fluorescent lamp ballasts. Markups are further
described in section IV.H.4.
2. Shipments Projections
The GRIM estimates manufacturer revenues based on total unit
shipment projections and the distribution of those shipments by EL.
Changes in sales volumes and efficiency mix over time can significantly
affect manufacturer finances. For this analysis, the GRIM uses the
NIA's annual shipment projections from shipments scenario #3 (reference
case, see section IV.F.1) starting in 2019 (the reference year) and
ending in 2052 (the end year of the analysis period). See chapter 9 of
the NOPD TSD for additional details.
3. Product and Capital Conversion Costs
Potential amended energy conservation standards could cause
manufacturers to incur conversion costs to bring their production
facilities and equipment designs into compliance. DOE evaluated the
level of conversion-related expenditures that would be needed to comply
with each considered EL in each product class. For the MIA, DOE
classified these conversion costs into two major groups: (1) Product
conversion costs; and (2) capital conversion costs. Product conversion
costs are investments in research, development, testing, marketing, and
other non-capitalized costs necessary to make product designs comply
with amended energy conservation standards. Capital conversion costs
are investments in property, plant, and equipment necessary to adapt or
change existing production facilities such that new compliant product
designs can be fabricated and assembled.
To evaluate the level of capital conversion costs manufacturers
would likely incur to comply with the analyzed energy conservation
standards DOE used data submitted during manufacturer interviews and
data from the 2011 FL Ballast Rule to estimate costs to update
manufacturer production lines by product class. DOE then estimated the
number of production lines currently in existence and the number of
production lines that would be required to be updated at each analyzed
EL using DOE's public Compliance Certification Database. DOE then
multiplied these numbers together (i.e., capital conversion costs per
production line and number of production lines that would need to be
updated) to get the final estimated capital conversion costs for each
product class at each analyzed EL.
To evaluate the level of product conversion costs manufacturers
would likely incur to comply with the analyzed energy conservation
standards, DOE used data submitted during manufacturer interviews and
data from the 2011 FL Ballast Rule to estimate per model R&D and
testing and certification costs for each product class and EL. DOE then
estimated the number of models that would need to be redesigned for
each product class at each analyzed EL. DOE then multiplied these
numbers together to get the final estimated product conversion costs
for each product class at each analyzed EL.
In general, DOE assumes all conversion-related investments occur
between the year of publication of the final rule and the year by which
manufacturers must comply with the potential amended standards. The
conversion cost figures used in the GRIM can be found in Table V.7 and
section V.C of this document. For additional information on the
estimated capital and product conversion costs, see chapter 11 of the
NOPD TSD.
4. Markup Scenarios
To calculate the MPCs used in the GRIM, DOE divided the wholesaler
prices calculated in the engineering analysis by the wholesaler markup
and the manufacturer markup. The wholesaler markup was calculated in
the 2011 FL Ballast Rule by reviewing SEC 10-K reports of electrical
wholesalers. DOE also coordinated with
[[Page 56578]]
the National Association of Electrical Distributors by contacting two
representative electrical wholesalers, who confirmed that DOE's
calculated markups were consistent with their actual ballast markups.
DOE continued to use a wholesaler markup of 1.23 in this analysis.
The manufacturer markup accounts for the non-production costs
(i.e., SG&A, R&D, and interest) along with profit. Modifying the
manufacturer markup in the standards case yields different sets of
impacts on manufacturers. For the MIA, DOE modeled two standards-case
markup scenarios to represent uncertainty regarding the potential
impacts on prices and profitability for manufacturers following the
implementation of analyzed energy conservation standards: (1) A
preservation of gross margin percentage markup scenario; and (2) a
preservation of operating profit markup scenario. These scenarios lead
to different manufacturer markup values that, when applied to the MPCs,
result in varying revenue and cash flow impacts.
Under the preservation of gross margin percentage scenario, DOE
applied a single uniform ``gross margin percentage'' markup across all
ELs, which assumes that manufacturers would be able to maintain the
same amount of profit as a percentage of revenues at all ELs within a
product class. To calculate the preservation of gross margin markup,
DOE took the manufacturer markup used in the 2011 FL Ballast Rule and
compared it to the manufacturer markups calculated by examining the SEC
10-Ks of all publicly traded FLB manufacturers and confirmed this with
manufacturers during interviews. DOE determined that the manufacturer
markup used in the 2011 FL Ballast Rule was consistent with the current
SEC 10-Ks of the publicly traded FLB manufacturers and most
manufacturers agreed during manufacturer interviews. Therefore, DOE
used 1.40 as the manufacturer markup in the preservation of gross
margin markup scenario. DOE assumes that this markup scenario
represents an upper bound to industry profitability under analyzed
energy conservation standards.
Under the preservation of operating profit markup scenario, DOE
modeled a situation in which manufacturers are not able to increase
operating profit in proportion to increases in manufacturer production
costs. Under this scenario, as the cost of production increases,
manufacturers are generally required to reduce the manufacturer markups
to maintain cost competitive offerings in the market. Therefore, gross
margin (as a percentage) shrinks in the standards cases in this markup
scenario. This markup scenario represents an upper bound of industry
impacts (lower profitability) under amended energy conservation
standards.
A comparison of industry financial impacts under the two
manufacturer markup scenarios is presented in section V.C.1 of this
document.
5. Manufacturer Interviews
DOE interviewed manufacturers of fluorescent lamp ballasts and
asked them to describe their major concerns regarding a potential
rulemaking to amend the standards for FLBs. Manufacturer interviews are
conducted under non-disclosure agreements (NDAs), so DOE does not
document these discussions in the same way that it does public comments
and DOE's responses throughout the rest of this document. Manufacturers
identified two major areas of concern regarding potential FLB
standards: (1) Shift to SSL (i.e., LEDs) and (2) limited investment in
fluorescent lamp ballasts.
a. Shift to Solid-State Lighting
Manufacturers stated that the market is moving from fluorescent
lighting to LED lighting. As a result, shipments for fluorescent lamp
ballasts are declining. This trend is expected to continue in the
future absent amended energy conservation standards. Some manufacturers
expected sales in 2020 could decline by more than half compared to
2016. Given this market-driven move in the no-new-standards case from
fluorescent lighting to LED lighting, manufacturers commented that an
amended energy conservation would accelerate this transition.
Specifically, manufacturers stated that consumers of fluorescent lamp
ballasts are very price sensitive and any increase in consumer price as
a result of potential amended energy conservation standards would
significantly reduce FLB shipments.
DOE is aware that consumers of fluorescent lamp ballasts are
shifting to purchase all-LED systems. DOE accounts for this in the
Reference Case by adjusting shipments of fluorescent lamp ballasts
downward during the analysis period. Amended energy conservation
standards could accelerate the transition to LED lighting, and DOE
accounts for this potential accelerated decline by analyzing an
alternate shipment scenario in which there is a standards-induced shift
to SSL. (See section IV.F for further information.)
b. Limited Investment in Fluorescent Lamp Ballasts
Manufacturers commented that fluorescent lamp ballasts are a mature
technology and increases in efficiency can only be achieved at high
expense to the industry. Under potential amended energy conservation
standards, manufacturers stated that they might discontinue non-
compliant products instead of redesigning them, because investments in
fluorescent lamp ballasts would not be cost-effective. Therefore, any
amended energy conservation standards could result in reduced product
offerings. This would impact consumers in the replacement markets,
particularly in those instances in which there is a preference to
replace ballasts with exactly the same one. The LCC analysis takes into
account such effects on consumers; see section IV.E for further
details.
6. Discussion of MIA Comments
DOE received several comments related to assessing the manufacturer
impacts of potential amended standards for fluorescent lamp ballasts.
NEMA, Lutron, and ULT commented that manufacturers are unlikely to
develop or redesign new fluorescent lamp ballasts if energy
conservation standards result in the elimination of products from the
market. They added that setting efficiency limits will only hasten the
existing decline of this product category. (NEMA, No. 12 at p. 11;
Lutron, No. 9 at p. 3; ULT, No. 6 at p. 10) Similarly, Philips
commented that even though a new ballast could be designed and
produced, DOE needs to be very cognizant of the costs associated with
design, approbation, marketing, and implementation of that new, revised
design into luminaires and there might not be a positive business case.
(Philips, No. 8 at p. 15)
The MIA takes conversion costs and the shipment volumes into
account when analyzing the impacts on manufacturers. Thus, the results
of the MIA present the impacts of redesigning all non-compliant
products to comply with the analyzed standard level even if that is not
the path that manufacturers will choose.
In addition, NEMA pointed out that fluorescent lamp ballasts have
been subject to four energy conservation standards since the early
1990s, including a rulemaking completed in 2011, which NEMA stated had
a significant negative impact on manufacturers' INPV. NEMA commented
that because of a declining demand for these products, another
rulemaking could have a negative
[[Page 56579]]
impact on INPV. (NEMA, No. 12 at p. 8) Philips and ULT commented that
they used to run five and four FLB factories, respectively, and now
they are running one factory each as a result of declining sales.
(Philips, Public Meeting Transcript, No. 5 at p. 55; ULT, Public
Meeting Transcript, No. 5 at p. 56)
In those instances in which DOE proposes amended standards, it
analyzes the benefits and burdens of each standard independently and
weighs the potential burdens on the industry as one of the factors in
determining a final standard. In this notice DOE is proposing a
determination to not amend standards for fluorescent lamp ballasts. See
section V.D for further details.
V. Analytical Results and Conclusions
The following section addresses the results from DOE's analyses
with respect to the considered energy conservation standards for
fluorescent lamp ballasts. It addresses the ELs examined by DOE and the
projected impacts of each of these levels. Additional details regarding
DOE's analyses are contained in the NOPD TSD supporting this document.
A. Economic Impacts on Individual Consumers
DOE analyzed the cost effectiveness (i.e., the savings in operating
costs throughout the estimated average life of FLBs compared to any
increase in the price of, or in the initial charges for, or maintenance
expenses of, the FLBs which are likely to result from the imposition of
a standard at the EL) by considering the LCC and PBP at each EL. These
analyses are discussed in the following sections. DOE usually evaluates
the LCC impacts of potential standards on identifiable subgroups of
consumers that may be affected disproportionately by a national
standard. However, given the tentative conclusion discussed in section
V.D, DOE did not conduct a consumer subgroup analysis for this proposed
determination.
1. Life-Cycle Cost and Payback Period
In general, higher-efficiency products can affect consumers in two
ways: (1) Purchase price increases and (2) annual operating costs
decrease. Inputs used for calculating the LCC and PBP include total
installed costs (i.e., product price plus installation costs), and
operating costs (i.e., annual energy use, energy prices, energy price
trends, repair costs, and maintenance costs). The LCC calculation also
uses product lifetime and a discount rate. Chapter 8 of the NOPD TSD
provides detailed information on the LCC and PBP analyses.
Table V.1 shows the average LCC and PBP results for the ELs
considered for fluorescent lamp ballasts in this analysis.
Table V.1--Average LCC and PBP Results by Efficiency Level
------------------------------------------------------------------------
LCC savings Simple payback
Efficiency level 2018$ period years
------------------------------------------------------------------------
EL 1.................................... 0 12
EL 2.................................... 1 10
EL 3.................................... 2 10
------------------------------------------------------------------------
2. Rebuttable Presumption Payback
As discussed in section IV.E.9, EPCA establishes a rebuttable
presumption that an energy conservation standard is economically
justified if the increased purchase cost for a product that meets the
standard is less than three times the value of the first-year energy
savings resulting from the standard. In calculating a rebuttable
presumption PBP for each of the considered ELs, DOE used discrete
values, and, as required by EPCA, based the energy use calculation on
the DOE test procedure for fluorescent lamp ballasts. In contrast, the
PBPs presented in section V.A.1 were calculated using distributions
that reflect the range of energy use in the field. See chapter 8 of the
NOPD TSD for more information on the rebuttable presumption payback
analysis.
B. National Impact Analysis
This section presents DOE's estimates of the NES and the NPV of
consumer benefits that would result from each of the ELs considered as
potential amended standards.
1. Significance of Energy Savings
To estimate the energy savings attributable to potential amended
standards for fluorescent lamp ballasts, DOE compared their energy
consumption under the no-new-standards case to their anticipated energy
consumption under each EL. The savings are measured over the entire
lifetime of products purchased in the 30-year period that begins in the
year of anticipated compliance with amended standards (2023-2052).
Table V.2 presents DOE's projections of the NES for each EL considered
for fluorescent lamp ballasts. The savings were calculated using the
approach described in section IV.G of this document.
Table V.2--Cumulative National Energy Savings for Fluorescent Lamp Ballasts; 30 Years of Shipments
[2023-2052]
----------------------------------------------------------------------------------------------------------------
Efficiency level
Shipment scenario Energy type -----------------------------------------------
1 2 3
----------------------------------------------------------------------------------------------------------------
quads
----------------------------------------------------------------------------------------------------------------
1..................................... Site Energy............. 0.000 0.000 0.000
Source Energy........... 0.000 0.000 0.000
FFC Energy.............. 0.000 0.000 0.000
2..................................... Site Energy............. 0.006 0.019 0.025
Source Energy........... 0.017 0.051 0.066
FFC Energy.............. 0.018 0.054 0.069
3 (Reference Case).................... Site Energy............. 0.018 0.055 0.069
[[Page 56580]]
Source Energy........... 0.049 0.145 0.183
FFC Energy.............. 0.051 0.152 0.192
4..................................... Site Energy............. 0.037 0.110 0.137
Source Energy........... 0.098 0.292 0.365
FFC Energy.............. 0.102 0.306 0.382
----------------------------------------------------------------------------------------------------------------
OMB Circular A-4 \40\ requires agencies to present analytical
results, including separate schedules of the monetized benefits and
costs that show the type and timing of benefits and costs. Circular A-4
also directs agencies to consider the variability of key elements
underlying the estimates of benefits and costs. For this proposed
determination, DOE undertook a sensitivity analysis using 9 years,
rather than 30 years, of product shipments. The choice of a 9-year
period is a proxy for the timeline in EPCA for the review of certain
energy conservation standards and potential revision of and compliance
with such revised standards.\41\ The review timeframe established in
EPCA is generally not synchronized with the product lifetime, product
manufacturing cycles, or other factors specific to fluorescent lamp
ballasts. Thus, such results are presented for informational purposes
only and are not indicative of any change in DOE's analytical
methodology. The NES sensitivity analysis results based on a 9-year
analytical period are presented in Table V.3. The impacts are counted
over the lifetime of fluorescent lamp ballasts purchased in 2023-2031.
---------------------------------------------------------------------------
\40\ U.S. Office of Management and Budget. Circular A-4:
Regulatory Analysis. September 17, 2003. Available at https://obamawhitehouse.archives.gov/omb/circulars_a004_a-4/.
\41\ Section 325(m) of EPCA requires DOE to review its standards
at least once every 6 years, and requires, for certain products, a
3-year period after any new standard is promulgated before
compliance is required, except that in no case may any new standards
be required within 6 years of the compliance date of the previous
standards. If DOE makes a determination that amended standards are
not needed, it must conduct a subsequent review within 3 years
following such a determination. As DOE is evaluating the need to
amend the standards, the sensitivity analysis is based on the review
timeframe associated with amended standards. While adding a 6-year
review to the 3-year compliance period adds up to 9 years, DOE notes
that it may undertake reviews at any time within the 6-year period
and that the 3-year compliance date may yield to the 6-year
backstop. A 9-year analysis period may not be appropriate given the
variability that occurs in the timing of standards reviews and the
fact that for some products, the compliance period is 5 years rather
than 3 years.
Table V.3--Cumulative National Energy Savings for Fluorescent Lamp Ballasts; 9 Years of Shipments
[2023-2031]
----------------------------------------------------------------------------------------------------------------
Efficiency level
Shipment scenario Energy type -----------------------------------------------
1 2 3
----------------------------------------------------------------------------------------------------------------
quads
----------------------------------------------------------------------------------------------------------------
1..................................... Site Energy............. 0.000 0.000 0.000
Source Energy........... 0.000 0.000 0.000
FFC Energy.............. 0.000 0.000 0.000
2..................................... Site Energy............. 0.006 0.018 0.023
Source Energy........... 0.016 0.047 0.061
FFC Energy.............. 0.017 0.049 0.064
3 (Reference Case).................... Site Energy............. 0.012 0.036 0.047
Source Energy........... 0.032 0.097 0.124
FFC Energy.............. 0.034 0.101 0.130
4..................................... Site Energy............. 0.022 0.065 0.084
Source Energy........... 0.058 0.175 0.224
FFC Energy.............. 0.061 0.183 0.235
----------------------------------------------------------------------------------------------------------------
2. Net Present Value of Consumer Costs and Benefits
DOE estimated the cumulative NPV of the total costs and savings for
consumers that would result from the ELs considered for fluorescent
lamp ballasts. In accordance with OMB's guidelines on regulatory
analysis,\42\ DOE calculated NPV using both a 7-percent and a 3-percent
real discount rate. Table V.4 shows the consumer NPV results with
impacts counted over the lifetime of products purchased in 2023-2052.
---------------------------------------------------------------------------
\42\ U.S. Office of Management and Budget. Circular A-4:
Regulatory Analysis. September 17, 2003. Available at https://obamawhitehouse.archives.gov/omb/circulars_a004_a-4/.
[[Page 56581]]
Table V.4--Cumulative Net Present Value of Consumer Benefits for Fluorescent Lamp Ballasts; 30 Years of
Shipments
[2023-2052]
----------------------------------------------------------------------------------------------------------------
Efficiency level
Shipment scenario Discount rate (percent) -----------------------------------------------
1 2 3
----------------------------------------------------------------------------------------------------------------
Billion 2018$
----------------------------------------------------------------------------------------------------------------
1..................................... 3....................... (0.000) 0.000 0.000
7....................... (0.000) (0.000) (0.000)
2..................................... 3....................... (0.050) (0.013) (0.031)
7....................... (0.053) (0.054) (0.080)
3 (Reference Case).................... 3....................... (0.146) (0.075) (0.159)
7....................... (0.133) (0.149) (0.228)
4..................................... 3....................... (0.293) (0.165) (0.350)
7....................... (0.256) (0.293) (0.453)
----------------------------------------------------------------------------------------------------------------
The NPV results based on the aforementioned 9-year analytical
period are presented in Table V.5. The impacts are counted over the
lifetime of products purchased in 2023-2031. As mentioned previously,
such results are presented for informational purposes only and are not
indicative of any change in DOE's analytical methodology or decision
criteria.
Table V.5--Cumulative Net Present Value of Consumer Benefits for Fluorescent Lamp Ballasts; 9 Years of Shipments
[2023-2031]
----------------------------------------------------------------------------------------------------------------
Efficiency level
Shipment scenario Discount rate (percent) -----------------------------------------------
1 2 3
----------------------------------------------------------------------------------------------------------------
Billion 2018$
----------------------------------------------------------------------------------------------------------------
1..................................... 3....................... (0.000) 0.000 0.000
7....................... (0.000) (0.000) (0.000)
2..................................... 3....................... (0.046) (0.010) (0.025)
7....................... (0.050) (0.051) (0.074)
3 (Reference Case).................... 3....................... (0.096) (0.030) (0.066)
7....................... (0.101) (0.106) (0.157)
4..................................... 3....................... (0.173) (0.058) (0.128)
7....................... (0.180) (0.192) (0.285)
----------------------------------------------------------------------------------------------------------------
C. Economic Impacts on Manufacturers
DOE performed an MIA to estimate the impact of analyzed energy
conservation standards on manufacturers of fluorescent lamp ballasts.
The following section describes the expected impacts on fluorescent
lamp manufacturers at each EL. Chapter 11 of the NOPD TSD explains the
analysis in further detail.
1. Industry Cash Flow Analysis Results
In this section, DOE provides the results from the MIA, which
examines changes in the industry that would result from the analyzed
standards. The following tables illustrate the estimated financial
impacts (represented by changes in INPV) of potential amended energy
conservation standards on manufacturers of fluorescent lamp ballasts,
as well as the conversion costs that DOE estimates manufacturers of
fluorescent lamp ballasts would incur at each EL.
To evaluate the range of cash-flow impacts on the FLB industry, DOE
modeled two markup scenarios that correspond to the range of
anticipated market responses to potential standards. Each scenario
results in a unique set of cash flows and corresponding industry values
at each EL. In the following discussion, the INPV results refer to the
difference in industry value between the no-new-standards case and the
standards case that result from the sum of discounted cash flows from
the reference year (2019) through the end of the analysis period
(2052).
To assess the upper (less severe) end of the range of potential
impacts on FLB manufacturers, DOE modeled a preservation of gross
margin markup scenario. This scenario assumes that in the standards
case, manufacturers would be able to pass along all the higher
production costs required for more efficient products to their
consumers. To assess the lower (more severe) end of the range of
potential impacts, DOE modeled a preservation of operating profit
markup scenario. The preservation of operating profit markup scenario
assumes that in the standards cases, manufacturers would be able to
earn the same operating margin in absolute dollars as they would in the
no-new-standards case. This represents the lower bound of industry
profitability in the standards cases.
Table V.6 and Table V.7 present the results of the industry cash
flow analysis for FLB manufacturers under the preservation of gross
margin and preservation of operating profit markup scenarios. See
chapter 11 of the NOPD TSD for results of the complete industry cash
flow analysis by product class.
[[Page 56582]]
Table V.6--Manufacturer Impact Analysis for Fluorescent Lamp Ballast--Preservation of Gross Margin Markup
Scenario
----------------------------------------------------------------------------------------------------------------
No-new-
Units standards case EL 1 EL 2 EL 3
----------------------------------------------------------------------------------------------------------------
INPV.......................... 2018$ millions.. 489.3 436.9 389.1 381.5
Change in INPV................ 2018$ millions.. .............. (52.4) (100.2) (107.8)
%............... .............. (10.7) (20.5) (22.0)
Product Conversion Costs...... 2018$ millions.. .............. 68.8 132.2 146.7
Capital Conversion Costs...... 2018$ millions.. .............. 17.8 33.8 36.4
Total Conversion Costs........ 2018$ millions.. .............. 86.6 166.0 183.1
----------------------------------------------------------------------------------------------------------------
Table V.7--Manufacturer Impact Analysis for Fluorescent Lamp Ballast--Preservation of Operating Profit Markup
Scenario
----------------------------------------------------------------------------------------------------------------
No-new-
Units standards case EL 1 EL 2 EL 3
----------------------------------------------------------------------------------------------------------------
INPV.......................... 2018$ millions.. 489.3 430.9 375.6 363.3
Change in INPV................ 2018$ millions.. .............. (58.4) (113.7) (126.0)
%............... .............. (11.9) (23.2) (25.8)
Product Conversion Costs...... 2018$ millions.. .............. 68.8 132.2 146.7
Capital Conversion Costs...... 2018$ millions.. .............. 17.8 33.8 36.4
Total Conversion Costs........ 2018$ millions.. .............. 86.6 166.0 183.1
----------------------------------------------------------------------------------------------------------------
2. Direct Impacts on Employment
DOE typically presents quantitative estimates of the potential
changes in production employment that could result from the analyzed
energy conservation standard levels. However, for this proposed
determination, DOE determined that no manufacturers have domestic FLB
production. Further, DOE has tentatively determined that amended energy
conservation standards are not needed. Therefore, the proposed
determination would not have a significant impact on domestic
employment in the FLB industry.
3. Impacts on Manufacturing Capacity
DOE does not anticipate any significant capacity constraints at any
of the analyzed energy conservation standards. The more efficient
components are currently being used in existing FLB models and
worldwide supply would most likely be able to meet the increase in
demand given the 3-year compliance period for any potential energy
conservation standards.
4. Impacts on Subgroups of Manufacturers
Using average cost assumptions to develop an industry cash-flow
estimate may not be adequate for assessing differential impacts among
manufacturer subgroups. Small manufacturers, niche equipment
manufacturers, and manufacturers exhibiting cost structures
substantially different from the industry average could be affected
disproportionately. DOE only identified one manufacturer subgroup for
fluorescent lamp ballasts, small manufacturers. Given the tentative
conclusion discussed in section V.D, DOE did not conduct a manufacturer
subgroup analysis on small business manufacturers for this proposed
determination.
5. Cumulative Regulatory Burden
One aspect of assessing manufacturer burden involves looking at the
cumulative impact of multiple DOE standards and the product-specific
regulatory actions of other Federal agencies that affect the
manufacturers of a covered product. While any one regulation may not
impose a significant burden on manufacturers, the combined effects of
several existing or impending regulations may have serious consequences
for some manufacturers, groups of manufacturers, or an entire industry.
Assessing the impact of a single regulation may overlook this
cumulative regulatory burden. In addition to energy conservation
standards, other regulations can significantly affect manufacturers'
financial operations. Multiple regulations affecting the same
manufacturer can strain profits and lead companies to abandon product
lines or markets with lower expected future returns than competing
products. For these reasons, DOE typically conducts an analysis of
cumulative regulatory burden as part of its rulemakings pertaining to
appliance efficiency. However, given the tentative conclusion discussed
in section V.D, DOE did not conduct a cumulative regulatory burden
analysis.
D. Proposed Determination
As required by EPCA, this notice analyzes whether amended standards
for fluorescent lamp ballasts would result in significant conservation
of energy, be technologically feasible, and be cost effective. (42
U.S.C. 6295(m)(1)(A) and (n)(2)) In addition to these criteria, DOE
also estimated the impact on manufacturers. The criteria considered
under 42 U.S.C. 6295(m)(1)(A) and the additional analysis are discussed
below. Because an analysis of potential cost effectiveness and energy
savings first require an evaluation of the relevant technology, DOE
first discusses the technological feasibility of amended standards. DOE
then addresses the cost effectiveness and energy savings associated
with potential amended standards.
1. Technological Feasibility
EPCA mandates that DOE consider whether amended energy conservation
standards for fluorescent lamp ballasts would be technologically
feasible. (42 U.S.C. 6295(m)(1)(A) and (n)(2)(B)) DOE has tentatively
determined that there are technology options that would improve the
efficiency of fluorescent lamp ballasts. These technology options are
being used in commercially available fluorescent lamp ballasts and
therefore are technologically feasible. (See section IV.A.3 for further
information.) Hence, DOE has tentatively determined that
[[Page 56583]]
amended energy conservation standards for fluorescent lamp ballasts are
technologically feasible.
2. Cost Effectiveness
EPCA requires DOE to consider whether energy conservation standards
for fluorescent lamp ballasts would be cost effective through an
evaluation of the savings in operating costs throughout the estimated
average life of the covered product compared to any increase in the
price of, or in the initial charges for, or maintenance expenses of,
the covered products which are likely to result from the imposition of
the standard. (42 U.S.C. 6295(m)(1)(A), (n)(2)(C), and
(o)(2)(B)(i)(II)) DOE conducted an LCC analysis to estimate the net
costs/benefits to users from increased efficiency in the considered
fluorescent lamp ballasts. (See results in Table V.1.) DOE then
aggregated the results from the LCC analysis to estimate the NPV of the
total costs and benefits experienced by the Nation. (See results in
Table V.4 and Table V.5.) As noted, the inputs for determining the NPV
are (1) total annual installed cost, (2) total annual operating costs
(energy costs and repair and maintenance costs), and (3) a discount
factor to calculate the present value of costs and savings.
DOE first considered the most efficient level, EL 3 (max tech),
which would result in negative NPV at the 3-percent and 7-percent
discount rates. On the basis of negative NPV, DOE tentatively
determined that EL 3 is not cost effective.
DOE then considered the next most efficient level, EL 2, which
would result in negative NPV at a 3-percent and 7-percent discount
rate. On the basis of negative NPV, DOE tentatively determined that EL
2 is not cost effective.
DOE then considered the next most efficient level, EL 1, which
would result in negative NPV at both a 3-percent and 7-percent discount
rate. On the basis of negative NPV, DOE tentatively determined that EL
1 is not cost effective.
3. Significant Conservation of Energy
EPCA also mandates that DOE consider whether amended energy
conservation standards for fluorescent lamp ballasts would result in
result in significant conservation of energy. (42 U.S.C. 6295(m)(1)(A)
and (n)(2)(A)) DOE estimates that amended standards for fluorescent
lamp ballasts would result in site energy savings of 0.018 quads at EL
1 and 0.069 quads at max tech levels over a 30-year analysis period
(2023-2052). (See results in Table V.2.) However, as provided in the
prior section, DOE has tentatively determined that amended standards at
the evaluated ELs would not be cost effective.
4. Other Analysis
In this analysis, DOE also conducted an MIA to estimate the impact
of potential energy conservation standards on manufacturers of
fluorescent lamp ballasts. (See results in Table V.6 and Table V.7.)
Each EL for all applicable product classes is estimated to result in
FLB manufacturers experiencing a loss in INPV.
5. Summary
In this proposed determination, based on the consideration of cost
effectiveness and the initial determination that amended standards
would not be cost effective, DOE has tentatively determined that energy
conservation standards for fluorescent lamp ballasts do not need to be
amended. DOE will consider all comments received on this proposed
determination in issuing any final determination.
VI. Procedural Issues and Regulatory Review
A. Review Under Executive Order 12866
This proposed determination has been determined to be not
significant for purposes of Executive Order 12866, ``Regulatory
Planning and Review,'' 58 FR 51735 (Oct. 4, 1993). As a result, the OMB
did not review this proposed determination.
B. Review Under Executive Orders 13771 and 13777
On January 30, 2017, the President issued Executive Order (E.O.)
13771, ``Reducing Regulation and Controlling Regulatory Costs.'' E.O.
13771 stated the policy of the executive branch is to be prudent and
financially responsible in the expenditure of funds, from both public
and private sources. E.O. 13771 stated it is essential to manage the
costs associated with the governmental imposition of private
expenditures required to comply with Federal regulations.
Additionally, on February 24, 2017, the President issued E.O.
13777, ``Enforcing the Regulatory Reform Agenda.'' E.O. 13777 required
the head of each agency to designate an agency official as its
Regulatory Reform Officer (RRO). Each RRO oversees the implementation
of regulatory reform initiatives and policies to ensure that agencies
effectively carry out regulatory reforms, consistent with applicable
law. Further, E.O. 13777 requires the establishment of a regulatory
task force at each agency. The regulatory task force is required to
make recommendations to the agency head regarding the repeal,
replacement, or modification of existing regulations, consistent with
applicable law. At a minimum, each regulatory reform task force must
attempt to identify regulations that:
(1) Eliminate jobs, or inhibit job creation;
(2) Are outdated, unnecessary, or ineffective;
(3) Impose costs that exceed benefits;
(4) Create a serious inconsistency or otherwise interfere with
regulatory reform initiatives and policies;
(5) Are inconsistent with the requirements of Information Quality
Act, or the guidance issued pursuant to that Act, in particular those
regulations that rely in whole or in part on data, information, or
methods that are not publicly available or that are insufficiently
transparent to meet the standard for reproducibility; or
(6) Derive from or implement Executive Orders or other Presidential
directives that have been subsequently rescinded or substantially
modified.
DOE initially concludes that this rulemaking is consistent with the
directives set forth in these executive orders.
As discussed in this document, DOE is proposing not to amend energy
conservation standards for fluorescent lamp ballasts. Therefore, if
finalized as proposed, this proposed determination is expected to be an
E.O. 13771 other action.
C. Review Under the Regulatory Flexibility Act
The Regulatory Flexibility Act (5 U.S.C. 601 et seq.) requires
preparation of an initial regulatory flexibility analysis (IRFA) for
any rule that by law must be proposed for public comment, unless the
agency certifies that the rule, if promulgated, will not have a
significant economic impact on a substantial number of small entities.
As required by Executive Order 13272, ``Proper Consideration of Small
Entities in Agency Rulemaking,'' 67 FR 53461 (Aug. 16, 2002), DOE
published procedures and policies on February 19, 2003, to ensure that
the potential impacts of its rules on small entities are properly
considered during the rulemaking process. 68 FR 7990. DOE has made its
procedures and policies available on the Office of the General
Counsel's website (https://energy.gov/gc/office-general-counsel).
DOE reviewed this proposed determination under the provisions of
the Regulatory Flexibility Act and the policies and procedures
published on February 19, 2003. Because DOE is
[[Page 56584]]
proposing not to amend standards for fluorescent lamp ballasts, if
adopted, the determination would not amend any energy conservation
standards. On the basis of the foregoing, DOE certifies that the
proposed determination, if adopted, would have no significant economic
impact on a substantial number of small entities. Accordingly, DOE has
not prepared an IRFA for this proposed determination. DOE will transmit
this certification and supporting statement of factual basis to the
Chief Counsel for Advocacy of the Small Business Administration for
review under 5 U.S.C. 605(b).
D. Review Under the Paperwork Reduction Act
Manufacturers of fluorescent lamp ballasts must certify to DOE that
their products comply with any applicable energy conservation
standards. In certifying compliance, manufacturers must test their
products according to the DOE test procedures for fluorescent lamp
ballasts, including any amendments adopted for those test procedures.
DOE has established regulations for the certification and recordkeeping
requirements for all covered consumer products and commercial
equipment, including fluorescent lamp ballasts. 76 FR 12422 (March 7,
2011); 80 FR 5099 (Jan. 30, 2015). The collection-of-information
requirement for the certification and recordkeeping is subject to
review and approval by OMB under the Paperwork Reduction Act (PRA).
This requirement has been approved by OMB under OMB control number
1910-1400. Public reporting burden for the certification is estimated
to average 35 hours per response, including the time for reviewing
instructions, searching existing data sources, gathering and
maintaining the data needed, and completing and reviewing the
collection of information.
Notwithstanding any other provision of the law, no person is
required to respond to, nor shall any person be subject to a penalty
for failure to comply with, a collection of information subject to the
requirements of the PRA, unless that collection of information displays
a currently valid OMB Control Number.
E. Review Under the National Environmental Policy Act of 1969
DOE is analyzing this proposed action in accordance with the
National Environmental Policy Act (NEPA) and DOE's NEPA implementing
regulations (10 CFR part 1021). DOE's regulations include a categorical
exclusion for actions which are interpretations or rulings with respect
to existing regulations. 10 CFR part 1021, subpart D, Appendix A4. DOE
anticipates that this action qualifies for categorical exclusion A4
because it is an interpretation or ruling in regards to an existing
regulation and otherwise meets the requirements for application of a
categorical exclusion. See 10 CFR 1021.410. DOE will complete its NEPA
review before issuing the final action.
F. Review Under Executive Order 13132
Executive Order 13132, ``Federalism,'' 64 FR 43255 (Aug. 10, 1999),
imposes certain requirements on Federal agencies formulating and
implementing policies or regulations that preempt State law or that
have federalism implications. The Executive Order requires agencies to
examine the constitutional and statutory authority supporting any
action that would limit the policymaking discretion of the States and
to carefully assess the necessity for such actions. The Executive Order
also requires agencies to have an accountable process to ensure
meaningful and timely input by State and local officials in the
development of regulatory policies that have federalism implications.
On March 14, 2000, DOE published a statement of policy describing the
intergovernmental consultation process it will follow in the
development of such regulations. 65 FR 13735. DOE has examined this
proposed determination and has tentatively determined that it would not
have a substantial direct effect on the States, on the relationship
between the national government and the States, or on the distribution
of power and responsibilities among the various levels of government.
EPCA governs and prescribes Federal preemption of State regulations as
to energy conservation for the products that are the subject of this
proposed determination. States can petition DOE for exemption from such
preemption to the extent, and based on criteria, set forth in EPCA. (42
U.S.C. 6297) Therefore, no further action is required by Executive
Order 13132.
G. Review Under Executive Order 12988
With respect to the review of existing regulations and the
promulgation of new regulations, section 3(a) of Executive Order 12988,
``Civil Justice Reform,'' imposes on Federal agencies the general duty
to adhere to the following requirements: (1) Eliminate drafting errors
and ambiguity, (2) write regulations to minimize litigation, (3)
provide a clear legal standard for affected conduct rather than a
general standard, and (4) promote simplification and burden reduction.
61 FR 4729 (Feb. 7, 1996). Regarding the review required by section
3(a), section 3(b) of Executive Order 12988 specifically requires that
Executive agencies make every reasonable effort to ensure that the
regulation: (1) Clearly specifies the preemptive effect, if any, (2)
clearly specifies any effect on existing Federal law or regulation, (3)
provides a clear legal standard for affected conduct while promoting
simplification and burden reduction, (4) specifies the retroactive
effect, if any, (5) adequately defines key terms, and (6) addresses
other important issues affecting clarity and general draftsmanship
under any guidelines issued by the Attorney General. Section 3(c) of
Executive Order 12988 requires Executive agencies to review regulations
in light of applicable standards in section 3(a) and section 3(b) to
determine whether they are met or it is unreasonable to meet one or
more of them. DOE has completed the required review and determined
that, to the extent permitted by law, this proposed determination meets
the relevant standards of Executive Order 12988.
H. Review Under the Unfunded Mandates Reform Act of 1995
Title II of the Unfunded Mandates Reform Act of 1995 (UMRA)
requires each Federal agency to assess the effects of Federal
regulatory actions on State, local, and Tribal governments and the
private sector. Public Law 104-4, sec. 201 (codified at 2 U.S.C. 1531).
For a proposed regulatory action likely to result in a rule that may
cause the expenditure by State, local, and Tribal governments, in the
aggregate, or by the private sector of $100 million or more in any one
year (adjusted annually for inflation), section 202 of UMRA requires a
Federal agency to publish a written statement that estimates the
resulting costs, benefits, and other effects on the national economy.
(2 U.S.C. 1532(a) and (b)) The UMRA also requires a Federal agency to
develop an effective process to permit timely input by elected officers
of State, local, and Tribal governments on a proposed ``significant
intergovernmental mandate,'' and requires an agency plan for giving
notice and opportunity for timely input to potentially affected small
governments before establishing any requirements that might
significantly or uniquely affect them. On March 18, 1997, DOE published
a statement of policy on its process for intergovernmental consultation
under UMRA. 62 FR 12820. DOE's policy statement is also available at
https://energy.gov/sites/prod/files/gcprod/documents/umra_97.pdf.
[[Page 56585]]
This proposed determination does not contain a Federal
intergovernmental mandate, nor is it expected to require expenditures
of $100 million or more in any one year by the private sector. As a
result, the analytical requirements of UMRA do not apply.
I. Review Under the Treasury and General Government Appropriations Act,
1999
Section 654 of the Treasury and General Government Appropriations
Act, 1999 (Pub. L. 105-277) requires Federal agencies to issue a Family
Policymaking Assessment for any rule that may affect family well-being.
This proposed determination would not have any impact on the autonomy
or integrity of the family as an institution. Accordingly, DOE has
concluded that it is not necessary to prepare a Family Policymaking
Assessment.
J. Review Under Executive Order 12630
Pursuant to Executive Order 12630, ``Governmental Actions and
Interference with Constitutionally Protected Property Rights,'' 53 FR
8859 (March 15, 1988), DOE has determined that this proposed
determination would not result in any takings that might require
compensation under the Fifth Amendment to the U.S. Constitution.
K. Review Under the Treasury and General Government Appropriations Act,
2001
Section 515 of the Treasury and General Government Appropriations
Act, 2001 (44 U.S.C. 3516 note) provides for Federal agencies to review
most disseminations of information to the public under information
quality guidelines established by each agency pursuant to general
guidelines issued by OMB. OMB's guidelines were published at 67 FR 8452
(Feb. 22, 2002), and DOE's guidelines were published at 67 FR 62446
(Oct. 7, 2002). DOE has reviewed this NOPD under the OMB and DOE
guidelines and has concluded that it is consistent with applicable
policies in those guidelines.
L. Review Under Executive Order 13211
Executive Order 13211, ``Actions Concerning Regulations That
Significantly Affect Energy Supply, Distribution, or Use,'' 66 FR 28355
(May 22, 2001), requires Federal agencies to prepare and submit to OIRA
at OMB, a Statement of Energy Effects for any proposed significant
energy action. A ``significant energy action'' is defined as any action
by an agency that promulgates or is expected to lead to promulgation of
a final rule, and that (1) is a significant regulatory action under
Executive Order 12866, or any successor Executive Order; and (2) is
likely to have a significant adverse effect on the supply,
distribution, or use of energy, or (3) is designated by the
Administrator of OIRA as a significant energy action. For any proposed
significant energy action, the agency must give a detailed statement of
any adverse effects on energy supply, distribution, or use should the
proposal be implemented, and of reasonable alternatives to the action
and their expected benefits on energy supply, distribution, and use.
Because this proposed determination does not propose amended energy
conservation standards for fluorescent lamp ballasts, it is not a
significant energy action, nor has it been designated as such by the
Administrator at OIRA. Accordingly, DOE has not prepared a Statement of
Energy Effects.
M. Information Quality
On December 16, 2004, OMB, in consultation with the Office of
Science and Technology Policy (OSTP), issued its Final Information
Quality Bulletin for Peer Review (the Bulletin). 70 FR 2664 (Jan. 14,
2005). The Bulletin establishes that certain scientific information
shall be peer reviewed by qualified specialists before it is
disseminated by the Federal Government, including influential
scientific information related to agency regulatory actions. The
purpose of the bulletin is to enhance the quality and credibility of
the Government's scientific information. Under the Bulletin, the energy
conservation standards rulemaking analyses are ``influential scientific
information,'' which the Bulletin defines as ``scientific information
the agency reasonably can determine will have, or does have, a clear
and substantial impact on important public policies or private sector
decisions.'' Id. at 70 FR 2667.
In response to OMB's Bulletin, DOE conducted formal peer reviews of
the energy conservation standards development process and the analyses
that are typically used and has prepared a report describing that peer
review.\43\ Generation of this report involved a rigorous, formal, and
documented evaluation using objective criteria and qualified and
independent reviewers to make a judgment as to the technical/
scientific/business merit, the actual or anticipated results, and the
productivity and management effectiveness of programs and/or projects.
DOE has determined that the peer-reviewed analytical process continues
to reflect current practice, and the Department followed that process
for developing its determination in the case of the present action.
---------------------------------------------------------------------------
\43\ ``Energy Conservation Standards Rulemaking Peer Review
Report.'' 2007. Available at https://energy.gov/eere/buildings/downloads/energy-conservation-standards-rulemaking-peer-review-report-0.
---------------------------------------------------------------------------
VII. Public Participation
A. Participation in the Webinar
The time and date of the webinar are listed in the DATES section at
the beginning of this document. If no participants register for the
webinar then it will be cancelled. Webinar registration information,
participant instructions, and information about the capabilities
available to webinar participants will be published on DOE's website:
https://www1.eere.energy.gov/buildings/appliance_standards/standards.aspx?productid=3. Participants are responsible for ensuring
their systems are compatible with the webinar software.
Additionally, you may request an in-person meeting to be held prior
to the close of the request period provided in the DATES section of
this document. Requests for an in-person meeting may be made by
contacting Appliance and Equipment Standards Program staff at (202)
287-1445 or by email: [email protected].
B. Submission of Comments
DOE will accept comments, data, and information regarding this
proposed determination no later than the date provided in the DATES
section at the beginning of this proposed determination. Interested
parties may submit comments, data, and other information using any of
the methods described in the ADDRESSES section at the beginning of this
document.
Submitting comments via https://www.regulations.gov. The https://www.regulations.gov web page will require you to provide your name and
contact information. Your contact information will be viewable to DOE
Building Technologies staff only. Your contact information will not be
publicly viewable except for your first and last names, organization
name (if any), and submitter representative name (if any). If your
comment is not processed properly because of technical difficulties,
DOE will use this information to contact you. If DOE cannot read your
comment due to technical difficulties and cannot contact you for
clarification, DOE may not be able to consider your comment.
However, your contact information will be publicly viewable if you
include it in the comment itself or in any documents attached to your
comment.
[[Page 56586]]
Any information that you do not want to be publicly viewable should not
be included in your comment, nor in any document attached to your
comment. Otherwise, persons viewing comments will see only first and
last names, organization names, correspondence containing comments, and
any documents submitted with the comments.
Do not submit to https://www.regulations.gov information for which
disclosure is restricted by statute, such as trade secrets and
commercial or financial information (hereinafter referred to as
Confidential Business Information (CBI)). Comments submitted through
https://www.regulations.gov cannot be claimed as CBI. Comments received
through the website will waive any CBI claims for the information
submitted. For information on submitting CBI, see the Confidential
Business Information section.
DOE processes submissions made through https://www.regulations.gov
before posting. Normally, comments will be posted within a few days of
being submitted. However, if large volumes of comments are being
processed simultaneously, your comment may not be viewable for up to
several weeks. Please keep the comment tracking number that https://www.regulations.gov provides after you have successfully uploaded your
comment.
Submitting comments via email, hand delivery/courier, or postal
mail. Comments and documents submitted via email, hand delivery/
courier, or postal mail also will be posted to https://www.regulations.gov. If you do not want your personal contact
information to be publicly viewable, do not include it in your comment
or any accompanying documents. Instead, provide your contact
information in a cover letter. Include your first and last names, email
address, telephone number, and optional mailing address. The cover
letter will not be publicly viewable as long as it does not include any
comments.
Include contact information each time you submit comments, data,
documents, and other information to DOE. If you submit via postal mail
or hand delivery/courier, please provide all items on a CD, if
feasible, in which case it is not necessary to submit printed copies.
No telefacsimiles (faxes) will be accepted.
Comments, data, and other information submitted to DOE
electronically should be provided in PDF (preferred), Microsoft Word or
Excel, WordPerfect, or text (ASCII) file format. Provide documents that
are not secured, that are written in English, and that are free of any
defects or viruses. Documents should not contain special characters or
any form of encryption and, if possible, they should carry the
electronic signature of the author.
Campaign form letters. Please submit campaign form letters by the
originating organization in batches of between 50 to 500 form letters
per PDF or as one form letter with a list of supporters' names compiled
into one or more PDFs. This reduces comment processing and posting
time.
Confidential Business Information. Pursuant to 10 CFR 1004.11, any
person submitting information that he or she believes to be
confidential and exempt by law from public disclosure should submit via
email, postal mail, or hand delivery/courier two well-marked copies:
one copy of the document marked ``confidential'' including all the
information believed to be confidential, and one copy of the document
marked ``non-confidential'' with the information believed to be
confidential deleted. Submit these documents via email or on a CD, if
feasible. DOE will make its own determination about the confidential
status of the information and treat it according to its determination.
Factors of interest to DOE when evaluating requests to treat
submitted information as confidential include (1) a description of the
items, (2) whether and why such items are customarily treated as
confidential within the industry, (3) whether the information is
generally known by or available from other sources, (4) whether the
information has previously been made available to others without
obligation concerning its confidentiality, (5) an explanation of the
competitive injury to the submitting person that would result from
public disclosure, (6) when such information might lose its
confidential character due to the passage of time, and (7) why
disclosure of the information would be contrary to the public interest.
It is DOE's policy that all comments may be included in the public
docket, without change and as received, including any personal
information provided in the comments (except information deemed to be
exempt from public disclosure).
C. Issues on Which DOE Seeks Comment
Although DOE welcomes comments on any aspect of this proposal, DOE
is particularly interested in receiving comments and views of
interested parties concerning the following issues:
(1) DOE seeks comment on its evaluation of the efficiency of
dimming ballasts as BLE at full light output. See section IV.A.2.
(2) DOE seeks comment on the ELs under consideration for the
representative and non-representative product classes, including the
max tech levels. See section IV.B.5 and IV.B.6.
(3) DOE seeks comment on the methodology and results for estimating
end-user prices for fluorescent lamp ballasts in this analysis. See
section IV.C.
(4) DOE seeks comment on the methods to improve DOE's energy-use
analysis, as well as any data supporting alternate operating hour
estimates or assumptions regarding dimming of fluorescent lamp
ballasts. See section IV.E.
(5) DOE seeks comment on the type, prevalence, and operating hour
reductions related to the use of lighting controls used separately in
commercial, industrial, and residential sectors. See section IV.E.
(6) DOE seeks comment on the assumptions and methodology for
estimating annual operating hours. See section IV.E.
(7) DOE seeks comment whether the shipment scenarios under various
policy scenarios are reasonable and likely to occur. See section IV.F.
(8) DOE seeks comment and information on whether dimming ballasts
should have a different rate of decline than the similar non-dimming
fluorescent lamp ballasts. See section IV.F.
(9) DOE seeks comments on which shipment scenario accurately
characterizes future dimming FLB shipments. See section IV.F.
(10) DOE seeks comments on which of the four scenarios best
characterize future shipments of fluorescent lamp ballasts. See section
IV.F.
(11) DOE seeks comment on the percentage of customers to model in a
standards-induced shift that would migrate away from FLB technology.
See section IV.G.1.
(12) DOE seeks comments on the specific incremental cost in
fluorescent lamp ballasts that could trigger a standards-induced shift
away from fluorescent lamp ballasts. See section IV.G.1.
(13) DOE seeks comment on the approach for determining input power
and price for LED devices considered in a standards-induced shift. See
section IV.G.1.
(14) DOE seeks comment on the impediments that prevent users of
fluorescent lamp ballasts from switching to LED lighting. See section
IV.G.
(15) DOE seeks comment on the expected effect of potential
standards on
[[Page 56587]]
the rate at which FLB consumers transition to non-FLB technology. See
section IV.G.
VIII. Approval of the Office of the Secretary
The Secretary of Energy has approved publication of this notice of
proposed determination.
Signed in Washington, DC, on October 1, 2019.
Daniel R Simmons,
Assistant Secretary, Energy Efficiency and Renewable Energy.
[FR Doc. 2019-22537 Filed 10-21-19; 8:45 am]
BILLING CODE 6450-01-P