Notice of Recent Specifications Review and Request for Information on WaterSense Program, 20268-20274 [2020-07602]
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FOR FURTHER INFORMATION CONTACT:
Oscar Carrillo, Designated Federal
Officer, U.S. Environmental Protection
Agency (1601–M), Washington, DC
20460; telephone (202) 564–0347; fax
(202) 564–8129; email carrillo.oscar@
epa.gov.
Dated: April 6, 2020.
Oscar Carrillo,
Program Analyst.
[FR Doc. 2020–07527 Filed 4–9–20; 8:45 am]
BILLING CODE 6560–50–P
ENVIRONMENTAL PROTECTION
AGENCY
[EPA–HQ–OW–2020–0026; FRL–10007–06–
OW]
Notice of Recent Specifications Review
and Request for Information on
WaterSense Program
Environmental Protection
Agency (EPA).
ACTION: Notice; request for information.
AGENCY:
The Environmental Protection
Agency (EPA) is announcing the
completion of the review of WaterSense
product performance criteria as required
under the America’s Water
Infrastructure Act (AWIA) of 2018. The
AWIA required the EPA to consider for
review and revision, if necessary,
specifications which were released prior
to 2012. The EPA has completed its
review and made the decision not to
revise any specifications. A summary of
the review and findings are included in
this document. Additionally, this
document announces that the EPA is
seeking input and requesting
information on any data, surveys, or
studies to help assess consumer
satisfaction with WaterSense labeled
products, which could inform future
product specification development. The
EPA is also seeking input on how to
design a study or studies to inform
future reviews that incorporate
customer satisfaction considerations.
The results of these studies could
inform future Agency action when
developing criteria for labeling products
in the WaterSense program. The EPA is
also requesting input on whether it
should include consumer satisfaction
criteria into the WaterSense program
guidelines and, if included, what
criteria should be considered and how.
DATES: Comments on these items must
be received on or before June 9, 2020.
ADDRESSES: You may send comments,
identified by Docket ID No. EPA–HQ–
OW–2020–0026, by the following
method:
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SUMMARY:
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• Federal eRulemaking Portal:
https://www.regulations.gov/. Follow
the online instructions for submitting
comments.
Instructions: All submissions received
must include the Docket ID No. for this
notification. Comments received may be
posted without change to https://
www.regulations.gov/, including any
personal information provided. For
detailed instructions on sending
comments and additional information
on the rulemaking process, see the
‘‘How do I submit written comments?’’
heading of the SUPPLEMENTARY
INFORMATION section of this document.
FOR FURTHER INFORMATION CONTACT: For
additional information, please contact
Stephanie Tanner, Office of Water (mail
code 4204M), Environmental Protection
Agency, 1200 Pennsylvania Avenue,
NW, Washington, DC, 20460; telephone
number: 202–564–2660; or email:
Tanner.Stephanie@epa.gov (preferred).
Also see the following website for
additional information on this topic:
https://www.epa.gov/watersense/
product-specification-review.
SUPPLEMENTARY INFORMATION:
I. How do I submit written comments?
Submit your comments, identified by
Docket ID No. EPA–HQ–OW–2020–
0026, at https://www.regulations.gov/.
Once submitted, comments cannot be
edited or removed from the docket. The
EPA may publish any comment received
to its public docket. Do not submit
electronically any information you
consider to be Confidential Business
Information (CBI) or other information
whose disclosure is restricted by statute.
Multimedia submissions (audio, video,
etc.) must be accompanied by a written
comment. The written comment is
considered the official comment and
should include discussion of all points
you wish to make. The EPA will
generally not consider comments or
comment contents located outside of the
primary submission (i.e., on the web,
cloud, or other file sharing system). For
additional submission methods, the full
EPA public comment policy,
information about CBI or multimedia
submissions, and general guidance on
making effective comments, please visit
https://www.epa.gov/dockets/
commenting-epa-dockets.
II. Background
The Energy Policy Act (EPAct) of
1992 amended the Energy Policy and
Conservation Act by, among other
things, establishing mandatory
minimum water use standards for
plumbing products, with compliance
required beginning in 1994. The EPAct
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mandated a maximum flush volume of
1.6 gallons per flush (gpf) for toilets, 2.2
gallons per minute (gpm) flow rate for
faucets, and a 2.5 gpm flow rate for
showerheads. The Department of Energy
(DOE) issued regulations implementing
those statutory standards. The first
toilets and showerheads that met these
standards in the mid-1990s did not
perform well because they had not been
redesigned to use less water.
In the early 2000’s, a stakeholder
group of about 100 cities, water utilities,
non-governmental organizations, and
manufacturers of water-using products
approached the EPA to ask for
assistance in bringing order and
credibility to the marketplace for waterefficient products. Several utilities were
working to develop their own
performance test methods for products,
but each individual utility had different
tests and different lists of approved
products. Manufacturers noted that it
was difficult and expensive to make
products that met different
requirements. Stakeholders expressed a
wish for an ‘‘ENERGY STAR’’-like
program for water-using products that
would be both voluntary and nonregulatory. The EPA responded by
launching the WaterSense program in
2006.
WaterSense is a voluntary partnership
program sponsored by the EPA which
was initially launched in 2006 as an
initiative to educate American
consumers on making smart water
choices that save money and maintain
high performance standards. The
WaterSense label makes it easier for
consumers to identify water-efficient
products, new homes, and programs
that meet the EPA’s criteria for
efficiency and performance.
WaterSense-labeled products and
services are independently certified to
use at least 20 percent less water, save
energy, and perform as well as or better
than standard models. WaterSense
partners with manufacturers, retailers
and distributors, homebuilders,
irrigation professionals, and utilities to
encourage innovation in manufacturing
and support jobs for American workers.
To date, the program has
specifications for the seven products
identified in the table below. Criteria for
the specifications have also been
adopted into voluntary consensus
reference standards. Several of the
products are also covered by mandatory
federal DOE plumbing standards, as
described in the table. More than 30,000
models of products have been certified
to the WaterSense label and nearly 500
million products have been shipped,
according to reporting by WaterSense
manufacturer partners.
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Initial release date
(current version with release date)
Reference standards
WaterSense Specification for
Tank-Type Toilets.
January 24, 2007 ..........................
(Version 1.2, June 2, 2014) ..........
High-Efficiency Lavatory Faucet
Specification.
WaterSense Specification for
Flushing Urinals.
WaterSense Specification for
Showerheads.
WaterSense Specification for
Weather-Based Irrigation Controllers.
WaterSense Specification for
Flushometer-Valve Water Closets.
October 1, 2007 ............................
American Society of Mechanical Engineers (ASME)
A112.19.2/Canadian Standards Association
(CSA) B45.1.
ASME A112.18.1/CSA B125.1 .................................
WaterSense Specification for
Spray Sprinkler Bodies.
September 21, 2017 .....................
Specification
October 8, 2009 ............................
March 4, 2010 ..............................
(Version 1.1, July 26, 2018) .........
November 3, 2011 ........................
December 17, 2015 ......................
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III. The American Water Infrastructure
Act (AWIA) of 2018 and Review of
Specifications
The WaterSense program was
officially authorized by Congress in
October 2018 under the AWIA (Pub. L.
115–270, Section 4306). The provisions
under section 4306 of AWIA are largely
consistent with how the program has
operated since it began. The law
requires the program to periodically
review and, if appropriate, revise
specifications, although not more
frequently than every six years after
adoption or major revision of
performance criteria. The law also
required that, not later than December
31, 2019, the EPA ‘‘consider for review
and revise, if necessary, any WaterSense
performance criteria adopted before
January 1, 2012.’’ In response to AWIA,
the EPA commenced a review of five
WaterSense specifications that were
issued prior to January 1, 2012: Tank
type toilets, lavatory faucets and
accessories, showerheads, flushing
urinals, and weather-based irrigation
controllers.
The EPA initiated its specification
review process in December 2018 when
it released the WaterSense Notice of
Specification Review.1 That notice
provided the EPA’s initial
considerations and criteria for
evaluating whether to revise the
relevant specifications. The EPA
considered the following in determining
the feasibility in establishing, or in this
case, revising a product specification:
• Equal or superior product
performance compared to conventional
models,
1 WaterSense Notice of Specification Review,
December 20, 2018. www.epa.gov/sites/production/
files/2018-12/documents/ws-notice-of-specificationreview.pdf.
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ASME A112.19.2/CSA B45.1; American Society of
Sanitary Engineering (ASSE) 1037.
ASME A112.18.1/CSA B125.1 .................................
Smart Water Application Technologies (SWAT)
Test Protocol for Climatologically Based Controllers (Draft) with modifications.
ASME A112.19.2/CSA B45.1 Ceramic Plumbing
Fixtures, ASME A112.19.3/CSA B45.4 Stainless
Steel Plumbing Fixtures, or CSA B45.5/IAPMO
Z124 Plastic Plumbing Fixtures.
ASABE/ICC 802–2014, Sprinkler and Bubbler Design Requirements.
• Potential for significant water
savings on a national level,
• State of technology development—
product categories that rely on a single,
proprietary technology will not be
eligible for the label,
• Assurance that the development (or
revision) of a specification will not lead
to unintended or negative
environmental or economic impacts,
• Ability to measure and verify water
savings and performance, and
• Cost-effectiveness.
In the context of the criteria above,
the EPA reviewed the scope, efficiency,
and performance criteria within each
specification under consideration for
revision to determine if updates may be
necessary. The EPA also reviewed the
current product marketplace, including
product shipment data submitted by
WaterSense manufacturer partners as
part of annual reporting, to understand
the market share of WaterSense labeled
products and learn about technological
advancements and subsequent
efficiency and performance
improvements that have been made
since each specification’s initial release.
The evaluation considered technical
and scientific studies, trends in product
labeling, other specifications (regulatory
or voluntary), and market drivers.
WaterSense considered the water
savings potential of changes; as well as
potential impacts on product
performance, the larger built system,
and public health. WaterSense also
sought feedback on potential scope
expansion and/or new product
categories for labeling.
Throughout 2019, the EPA conducted
additional product research and
collected information from program
stakeholders related to the current
marketplace for WaterSense labeled
products. The EPA also solicited
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Covered by DOE
regulation?
Yes.
Yes.
Yes.
Yes.
No.
Yes.
No.
feedback on potential changes to each
specification’s scope, water efficiency
criteria, performance criteria, and the
marking requirements of the product
package. Through solicitation of public
comments 2 and a series of public
webinars 3 targeted to specific
stakeholder groups, the EPA collected
feedback to help guide its decisionmaking with respect to considering
specification revisions.
Comments received and polls
conducted during the public webinars
showed a difference of opinion among
partner types as to the decisions the
program should make. Based on the
public comments submitted, plumbing
manufacturers generally preferred to
maintain the current specification
efficiency levels and suggested
WaterSense instead focus on improving
stock penetration of existing labeled
products. Promotional partners (e.g.,
water utilities, units of local
government, non-governmental
organizations) generally indicated they
were interested in improved efficiency,
but not necessarily at the expense of
product or plumbing system
performance. Summaries of the
certification trends and stakeholder
input from the informal stakeholder
polls taken during the EPA’s
specification review public webinars are
available on the WaterSense website at
https://www.epa.gov/watersense/
product-specification-review.
Some commenters raised concerns
about potential impacts that water
efficiency could have on building
2 A compilation of public comments received as
part of the EPA’s specification review can be
viewed at www.epa.gov/watersense/productspecification-review#Comments.
3 Presentation materials, meeting summaries, and
recordings can be accessed at www.epa.gov/
watersense/product-specification-review#webinars.
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premise plumbing systems, drinking
water and wastewater infrastructure,
and water quality. These commenters
stated many buildings and
infrastructure systems, including
residential home plumbing systems,
within the United States were designed
for much higher water demand and
flows. With more efficient plumbing
fixtures and appliances available, and
changes in how water is used, there is
potential to create flow conditions
within plumbing systems that are
different from what they were designed
to accommodate. For example,
commenters noted drinking water has a
longer residence time in the plumbing
system pipes before delivery indoors for
public use. A reduction to the flow rate
may contribute to conditions (e.g., water
aging, temperature, odor) that are
conducive to the growth of
opportunistic pathogens (e.g., Legionella
pneumophila) and other water quality
issues. To understand these issues
further, in August 2018 the EPA coorganized a workshop with the National
Institute of Standards and Technology
(NIST) and the Water Research
Foundation (WRF) to establish research
objectives related to water use efficiency
and water quality in premise plumbing
systems. Participants from the workshop
identified research gaps that are still
needed relating to low flow volumes on
premise plumbing systems and its
impact on water quality, usage, and
efficiency.
Comments were also received
regarding potential impacts on state
laws of further lowering the WaterSense
requirements for water consumption
levels for tank-type toilets, lavatory
faucets, urinals and showerheads. For
example, at least six states have already
adopted regulations mandating
performance requirements consistent
with the EPA WaterSense specifications.
The EPA is aware that further revisions
to the criteria to improve water
efficiency beyond the current
WaterSense specifications may result in
state law and local adoption of
requirements.
The EPA considered all information
provided and comments received in its
specification review as required under
AWIA and made the decision not to
make changes to existing specifications.
In future reviews, the EPA will further
consider the issues raised in this review
related to system performance, health,
and safety. Also, the EPA is focused on
promoting plumbing and infrastructure
systems that are built and managed for
both water efficiency and water quality.
As such, WaterSense will be cognizant
of these potential unintended
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consequences as it considers revisions
to any of its product specifications.
As part of its specification
development review process, the EPA
has solicited information from program
partners on what updates to
performance criteria or referenced
standards WaterSense should consider
incorporating into specifications that
would benefit the user experience and
ensure long-term water savings. In
future reviews, the EPA is considering
including requests for additional
information from program partners
regarding consumer satisfaction and
product choice in the performance
specification review of the WaterSense
products. Several commenters advised
the EPA to conduct a user satisfaction
study prior to a revision of a
performance specification. This action
seeks comment from the broader public
in order to address the potential and
method for inclusion of consumer
satisfaction when evaluating changes to
the WaterSense product performance
criteria. The EPA request for consumer
satisfaction information is discussed
further in section V of this document.
IV. Summary of Information Collected
From the WaterSense Specification
Review
Each product-specific section below
includes a summary of the EPA’s
findings in the WaterSense specification
review process. As noted above, the
EPA has made the determination not to
revise any of the specifications. In the
future, should the Agency make the
decision to revise the specification of
any WaterSense product, a Notice of
Intent (NOI) would officially initiate the
specification revision process. In the
NOI, the EPA would identify potential
major and minor revisions it intends to
include in the specification revision.
Stakeholders will have an opportunity
to comment on the content of the NOI
prior to the EPA’s development of any
draft revised specification for each
WaterSense product-specific type. The
draft specification would likewise be
made available for public comment
prior to final revisions.
(a) Tank-Type Toilets
The Federal standard for tank-type
toilets set a maximum flush volume of
1.6 gallons per flush (gpf). The EPA
released the WaterSense Specification
for Tank-Type Toilets on January 24,
2007, which set a maximum efficiency
level of 1.28 gpf and established criteria
to evaluate performance. The EPA has
since completed two minor revisions to
the specification, releasing the latest
version (Version 1.2) in June 2014. To
date, manufacturer partners have
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produced nearly 3,900 WaterSense
labeled tank-type toilet models.
As part of its review of the tank-type
toilets specification, the EPA considered
whether to reduce the maximum
allowable flush volume criteria to
improve water efficiency beyond what
is required in the current WaterSense
specification. The EPA also considered
whether to modify its performance
criteria to require that labeled toilets be
able to flush a larger quantity of waste
and/or toilet paper.
While not specifically included as a
consideration in the WaterSense Notice
of Specification Review, during the
stakeholder engagement process the
EPA received feedback from several
utility and promotional partners
expressing concern about the actual
water savings from dual-flush toilets.
Under the current specification, dualflush toilets must have an effective flush
volume not to exceed 1.28 gallons gpf
(4.8 liters per flush [lpf]) and remove at
least 350 grams of solid waste per flush.
As a result of the public comments, the
EPA also considered whether to modify
or eliminate the effective flush
calculation from the specification.
Findings
To date, eight states and multiple
municipalities throughout the United
States have adopted regulations
mandating that tank-type toilets have a
flush volume of 1.28 gpf or less,
consistent with the WaterSense
specification. A report commissioned by
Plumbing Manufacturers International
(PMI) estimates that the market
penetration of WaterSense labeled tanktype toilet models is only 17 percent of
all models currently installed in the
United States.4 While many
jurisdictions now require 1.28 gpf
toilets, the EPA does not know of any
that mandate toilets to flush below 1.28
gpf. Therefore, the market has not
shifted below the WaterSense water
efficiency threshold.
As part of the specification review,
the EPA received feedback from several
utility and promotional partners
expressing concern over water savings
resulting from dual-flush toilets.
Currently, WaterSense labeled dualflush toilets may have full-flush
volumes of up to 1.6 gpf (commensurate
with a standard toilet) and still meet the
effective flush volume requirement.
Commenters indicated that realization
of water savings is based on user
behaviors related to activation of the
full- and reduced-flushes and expressed
4 GMP Research Inc., June 2019. 2019 U.S.
WaterSense Market Penetration. A GMP Research
Industry Report commissioned by PMI.
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concern that the effective flush volume
ratio of two reduced flushes to one full
flush is not typically employed in realworld applications. As a result,
WaterSense labeled dual-flush tank-type
toilets might not achieve the minimum
20 percent water savings.5
Comments were also received relating
to increasing the quantity of waste and/
or toilet paper beyond the 350 grams of
solid waste per flush required. A
comment was made that this may
encourage manufactures to focus on
solids and not sufficiently on other
attributes like bowl cleaning and lighter
waste removal, which require fluid
dynamic design considerations different
from bulk waste removal. According to
a customer satisfaction survey
conducted by the Metropolitan Water
District of Southern California in 1999,
bowl cleanliness was the number one
reason for double flushing. Increasing
the gram requirement may unduly
impact product choice, consumer
satisfaction and offset any savings in
water usage.
Currently, the EPA is funding two
studies examining low-flow plumbing
fixtures on water quality: Drexel
University, ‘‘Water Conservation and
Water Quality: Understanding the
Impacts of New Technologies and New
operational Strategies;’’ and Purdue,
Michigan State, and San Jose
Universities, ‘‘Right Sizing Tomorrow’s
Water Systems for Efficiency,
Sustainability, and Public Health.’’
These studies will provide insight on
the potential impact of declining
wastewater flows of pollutants and solid
concentrations through the premise
plumbing system on blockages, odor,
corrosion in pipes, and subsequently, on
water quality and human health. In light
of these ongoing studies, and
consideration of the public comments
received, the EPA has made the
determination not to make changes to
existing specifications. The EPA would
like to more fully evaluate the impacts
of low-flow plumbing fixtures on water
quality and public health. The EPA
would consider information from these
studies in any future review. In
addition, as discussed below, the EPA
would consider available data gathered
from this action on customer
satisfaction and the impacts of a change
on consumer product choice in any
further review of product specification.
5 See the WaterSense Plumbing Fixtures
Specification Review Webinar for a summary of
dual-flush toilet studies. For tank-type toilets, ratios
of reduced flushes to full flushes ranged from 0.48:1
to 1.7:1.
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(b) Lavatory Faucets and Faucet
Accessories
The Federal standard for lavatory
faucets set a maximum flow rate of 2.2
gallons per minute (gpm). The EPA
released the High-Efficiency Lavatory
Faucet Specification on October 1, 2007,
which set a maximum flow rate of 1.5
gpm and established criteria to evaluate
performance. WaterSense has not
revised the specification since its initial
release. The specification currently
establishes criteria for lavatory faucets
and faucet accessories (e.g., flow
restrictors, flow regulators, aerator
devices, laminar devices). To date,
manufacturers have produced more than
18,000 WaterSense labeled lavatory
faucet and accessory models.
As part of its review of the lavatory
faucets and accessories specification,
the EPA considered whether to reduce
the maximum allowable flow rate
criteria to improve water efficiency
beyond the current WaterSense
specification. The EPA also considered
whether to expand the scope of the
specification to accommodate other
faucet types, including residential
kitchen faucets and metering faucets as
requested by manufacturers over the last
several years.
Findings
To date, five states and multiple
municipalities throughout the United
States have adopted regulations
mandating that lavatory faucets have a
flow rate of 1.5 gallons per minute
(gpm) (5.7 liters per minute [lpm]) or
less, consistent with the WaterSense
specification. Further, unlike tank-type
toilets where states have adopted
efficiency regulations at the WaterSense
level, some states have established
regulations setting flow rates lower than
the WaterSense flow rate maximum for
lavatory faucets. As of July 1, 2016,
California requires lavatory faucets to
have a flow rate of 1.2 gpm [4.5 lpm] or
less. Washington and Hawaii
subsequently enacted similar efficiency
regulations for lavatory faucets, which
take effect in 2021.
The EPA has not been made aware of
any performance issues related to
lavatory faucets flowing at 1.0 or 1.2
gpm. As part of its initial specification
development, the EPA established a
minimum flow rate 0.8 gpm [3.0 lpm] at
20 psi to ensure user satisfaction with
WaterSense labeled lavatory faucets and
faucet accessories across a range of
potential household water pressures.
The EPA needs to further evaluate
available data and information to
determine if a different minimum flow
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rate is appropriate and if it will meet
customer expectations.
Five states throughout the United
States, including California, have
adopted regulations mandating that
residential kitchen faucets have a
maximum flow rate of 1.8 gpm [6.8 lpm]
or less—nearly 20 percent lower than
the current national standard with the
option to have an override that allows
the faucet to temporarily flow up to 2.2
gpm [8.3 lpm] for pot filling. Compliant
products in California are listed on the
California Modernized Appliance
Efficiency Database System (MAEDBS).
The EPA would need to evaluate
multiple performance considerations as
part of the specification development
process for residential kitchen faucets
should this product-type be added to
the WaterSense program. Considerations
include, but are not limited to, whether
to incorporate a minimum flow rate and
whether to allow a temporary override
for pot filling. Further, as discussed
below, a review of customer satisfaction
data and data on the impacts of a change
on consumer product choice would help
provide a comprehensive evaluation of
existing product performance for both
lavatory and kitchen faucets. Based on
these findings, the EPA has made the
determination not to make changes to
existing specifications for lavatory
faucets.
(c) Showerheads
The Federal standard for showerheads
sets a maximum flow rate of 2.5 gallons
per minute (gpm). The EPA released the
WaterSense Specification for
Showerheads on March 4, 2010, which
set a maximum flow rate of 2.0 gpm and
established criteria to evaluate
performance. WaterSense completed a
minor revision to the specification,
releasing Version 1.1 on July 26, 2018.
To date, manufacturers have produced
more than 9,300 WaterSense labeled
showerhead models.
As part of its review of the
showerhead specification, the EPA
considered whether to adjust the
maximum flow rate criteria to improve
water efficiency beyond the current
WaterSense specification. The EPA also
considered how any adjustment to the
flow rate could have unintended
consequences to public health and
safety without the corresponding change
to the overall infrastructure of the
premise plumbing system.
Findings
The EPA has observed market changes
since the initial publication of the
specification in 2010. To date, five
states and multiple municipalities
throughout the United States have
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adopted regulations mandating that
showerheads have a flow rate of 2.0
gallons per minute (gpm) (7.6 liters per
minute [pm]) or less, consistent with the
WaterSense specification. In addition,
as of July 1, 2018, California requires
showerheads to have a flow rate of 1.8
gpm [6.8 lpm] or less. Washington and
Hawaii have subsequently enacted
similar efficiency regulations for
showerheads, which take effect in 2021.
To date, approximately 63 percent of
WaterSense labeled showerheads (as
defined by the American Society of
Mechanical Engineers) have a maximum
flow rate of 1.8 gpm or less, and 77
percent of models certified since 2017
have a maximum flow rate of 1.8 gpm
or less.
In public comments, some
manufacturers expressed concern that
reducing the maximum flow rate to 1.8
gpm or less would result in more
consumer complaints. In addition,
several stakeholders expressed caution
regarding lowering the flow rate further
without consideration of health and
safety impacts, including waterborne
opportunistic pathogens (e.g.,
Legionella), thermal shock, and
scalding. While water conservation is
only one of potentially many factors
influencing water quality in premise
plumbing, showers are one of the
primary routes of exposure through
which humans could encounter these
waterborne pathogens. The two research
studies the EPA is currently funding
will provide more insight on the
impacts of water conservation (lowering
the flow rate) on public health.6 7
In addition, since the initial release of
the specification, the plumbing industry
has worked to harmonize the automaticcompensating mixing valve standard
(ASSE 1016/ASME A112.1016/CSA
B125.16 Performance requirements for
automatic compensating valves for
individual showers and tub/shower
combinations) and the showerhead
standard (ASME A112.18.1/CSA
B125.1). This harmonization was
completed to address incompatibilities
of these plumbing system components
and to ensure products are marked and
packaged consistently to educate
consumers and plumbing professionals
on thermal shock and scalding risks. As
part of its specification review, the EPA
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6 Drexel
University, Pennsylvania State
University and University of Colorado at Boulder.
‘‘Water Conservation and Water Quality:
Understanding the Impacts of New Technologies
and New Operational Strategies.’’ EPA Grant
Number: R836880.
7 Purdue University, Michigan State University,
San Jose State University and Tulane University.
‘‘Right Sizing Tomorrow’s Water Systems for
Efficiency, Sustainability, and Public Health.’’ EPA
Grant Number: R836890.
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received comments that thermal shock
and scalding pose a greater risk at lower
showerhead flow rates. However, one
water utility stated that thousands of
higher-efficiency (i.e., 1.5 gpm or less)
showerheads have been given away by
California energy providers without
complaints or reported incidents related
to thermal shock and scalding.
Based on its findings, the EPA has
decided to make no changes to the
product specification. In any future
review, as discussed below, the EPA
will consider information from the two
ongoing studies and data on consumer
satisfaction.
(d) Flushing Urinals
The Federal standard for urinals sets
a maximum flush volume of 1.0 gallons
per flush (gpf). The EPA released the
WaterSense Specification for Flushing
Urinals on October 8, 2009, which set a
maximum flush volume of 0.5 gpf and
established criteria to evaluate
performance. WaterSense has not
revised the specification since its initial
release. To date, manufacturers have
produced more than 700 WaterSense
labeled product models—including
flush devices, fixtures, and urinal
systems (combinations of urinal
flushing devices and fixtures).
As part of its review of the flushing
urinals specification, the EPA
considered whether to adjust the
maximum allowable flush volume
criteria to improve water efficiency
beyond the current WaterSense
specification, taking into account the
potential impact this may have on the
plumbing system and drain line
performance. The EPA also considered
whether to expand the scope of the
specification to include either nonwater urinals or non-water urinals with
a drain-cleansing action.
Findings
To date, six states and multiple
municipalities throughout the United
States have adopted regulations
mandating that urinals have a flush
volume of 0.5 gallons per flush (gpf) (1.9
liters per flush [lpf]) or less, consistent
with the WaterSense specification. As of
January 1, 2016, California requires
wall-mounted urinals to have a flush
volume of 0.125 gpf [0.5 lpf] or less,
although non-wall mounted urinals can
have a flush volume up to 0.5 gpf.
Washington enacted similar efficiency
regulations for urinals, which take effect
starting in 2021.
A report commissioned by PMI
estimates that the market penetration of
WaterSense labeled models is as low as
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2 percent of all models currently
installed.8
While some states and municipalities
have chosen to move forward with
promoting more efficient urinals,
several stakeholders, including water
utilities, raised concerns in written
comments about the efficacy and
performance of ultra-high-efficiency
(i.e., 0.125 gpf) urinals and non-water
urinals, particularly in retrofit
applications where a building’s
plumbing system was not designed for
lower flows. As part of its specification
review, the EPA was not able to identify
any new research that assessed the
impacts of flow rate on urinal
performance, although it is aware of one
study that is ongoing in Austin, Texas
that intends to evaluate the impacts of
flow rate and water quality on urinal
and drain line performance. The study
is also looking into the excessive buildup of struvite, a common reason for
drain line blockages, and the odor
associated with low flow and non-water
urinals. The EPA learned during the
review that consumer dissatisfaction of
drain line blockages and odor have led
to product replacements of low flow and
non-water urinals. More information is
needed to understand the scope of these
consumer concerns and if other
concerns exist.
With this specification review, the
EPA did not receive sufficient data or
information to suggest that it should
incorporate non-water urinals into the
WaterSense urinals specification.
The EPA has made the determination
not to make changes to existing
specifications. The EPA will monitor
ongoing research on flushing urinals
and other types of urinals available now
or entering the marketplace. If
information becomes available that
provides more data on the efficacy of
ultra-high-efficiency (i.e., 0.125 gpf)
urinals, non-water urinals, and nonwater urinals with a drain-cleansing
action, the EPA would consider this
information in any future review.
Further, as discussed below, a review of
customer satisfaction data and data on
the impacts of a change on consumer
product choice would help provide a
complete comprehensive evaluation of
existing product performance.
(e) Weather-Based Irrigation Controllers
The EPA released the WaterSense
Specification for Weather-Based
Irrigation Controllers on November 3,
2011. There are no Federal standards for
this product category. While the EPA
8 GMP Research Inc, June 2019. 2019 U.S.
WaterSense Market Penetration. A GMP Research
Industry Report commissioned by PMI.
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has not revised this specification since
its publication, WaterSense has issued
several technical clarifications in the
intervening years to better define the
requirements. The specification applies
to stand-alone controllers, add-on
devices, and plug-in devices
(collectively referred to in the
specification as controllers) that use
weather data as a basis for scheduling
irrigation.
Weather-based irrigation controllers
currently on the market either: (1)
Utilize onsite weather sensors; (2)
receive a weather signal from a local
weather station(s); or (3) use both to
schedule irrigation to meet plant needs.
To date, manufacturers have produced
nearly 800 WaterSense labeled weatherbased irrigation controller models.
As part of its review of the weatherbased irrigation controller specification,
the EPA considered whether a
significant growth in the market for
these products and a shift to cloudbased products would benefit from a
revision to the specification.
Specifically, the EPA considered
whether to revise the test method used
to determine product performance. The
EPA also considered whether to revise
the supplemental capability
requirements and/or product packaging
and labeling requirements.
The EPA acknowledges that there has
been a significant increase in both the
number of brands of weather-based
irrigation controllers on the market, as
well as the number of labeled models
since the specification was published in
2011. Further, due to technological
advancements in the industry, there has
been a shift to cloud-based products that
make use of smartphones and smart
home devices. Many manufacturers and
other stakeholders currently in the
marketplace were not in existence and
able to participate in specification
development prior to 2011, so
WaterSense aimed to ensure their input
was received during the specification
review process. The EPA has evaluated
the specification, as described below, in
light of this market growth to ensure the
specification developed in 2011 is still
relevant for products entering the
market today.
Findings
While market growth has been
significant since the release of the
specification, WaterSense estimates that
less than 10 percent of existing
irrigation systems installed in the
United States have a smart irrigation
control technology,9 or those that alter
9 Schein, Letschert, Chan, Chen, Dunham, Fuchs,
McNeil, Melody, Stratton, and Williams. 2017.
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irrigation schedules based on weather or
soil moisture data. Because the
remaining 90 percent of the market
available for transformation will likely
move towards smart irrigation control
technology, stakeholders, including
both utilities and manufacturers, were
not in favor of revising the specification.
The EPA also asked stakeholders
during the specification review process
whether the supplemental capability
requirements included in the current
version of the specification remained
relevant for products entering the
market today. The EPA received no
feedback during the public comment
period, stakeholder webinars or targeted
outreach indicating that any of these
requirements should be removed. Two
commenters expressed concern over
products being able to be easily
switched to or operate in standard
mode.
The EPA has made the determination
not to make changes to existing
specifications. The EPA will continue to
participate in the American Society of
Agricultural and Biological Engineers
(ASABE) X627 Environmentally
Responsive Landscape Irrigation Control
Systems standard development process.
In addition, as discussed below, the
EPA will consider data received on
customer satisfaction and the impact of
a consumer product choice in its review
of product performance in any future
review.
V. Request for Information on
Consumer Satisfaction
As the EPA developed the framework
for the WaterSense program to provide
opportunities for additional water
savings, the WaterSense program
established a goal that labeled products
should use at least 20 percent less water
than standard products. The program
includes efficiency criteria in its
specifications to assess products for
water use. Additionally, the program set
a goal that labeled products should
perform as well as or better than regular
models and included performance
criteria in its specifications to assess
performance.
WaterSense has included strong
performance requirements in its
specifications and used independent
Methodology for the National Water Savings and
Spreadsheet: Indoor Residential and Commercial/
Institutional Products, and Outdoor Residential
Products. Lawrence Berkley National Laboratory.
Table A–4. Schein et al. describes the detailed
technical approach to WaterSense’s stock
accounting practice for irrigation products using
values available as of the publication date. As it is
the EPA’s practice to continuously update its work
as data become available, the values referenced here
are for the 2018 analysis, the most recent year
available.
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20273
organizations to certify that labelled
products meet the EPA criteria. The
Agency is seeking to better understand
consumer satisfaction with the
performance of existing labelled
products and whether further changes to
the specifications could impact
consumer satisfaction. The Agency is
also exploring ways that it could collect
additional information on consumer
satisfaction through its own consumer
survey or surveys to inform future
decision-making. Understanding
consumer satisfaction is important to
the EPA as the Agency seeks to ensure
that our performance criteria review is
in fact ensuring that labelled products
are meeting the same standards as
products on the market before the
WaterSense label was adopted. This
request for information will also help
the program identify performance issues
it may be able to correct by including
new, or revising existing, performance
criteria in its product specifications.
WaterSense has an ongoing dialogue
with program partners (described in
Section II of this document) about the
program. In order to more fully assess
consumer satisfaction, WaterSense is
working with its program partners to
identify any data, surveys, or studies
that have assessed consumer satisfaction
with labeled products but recognizes
that additional information may exist.
WaterSense does not currently collect
information on the purchase of
individual products, but some of its
program partners and other parties may
have information to help the EPA
evaluate whether consumers are
satisfied with water-efficient
WaterSense labeled products. For
example, retail partners or
manufacturers may have information on
whether WaterSense labeled products
are returned at a proportionally greater
or lower rate than non-labeled products
or other indications of consumer
satisfaction. Water utilities and local
governments which provide rebates for
WaterSense labeled products may have
information to assess whether their
customers who received rebates are
satisfied with their purchase. However,
there may be non-partners who can also
provide responsive information.
Specifically, the EPA is requesting
information on any data, surveys, or
studies that have assessed consumer
satisfaction with WaterSense labeled or
standard products.
Understanding consumer satisfaction
is important to the EPA as the Agency
seeks to ensure that our performance
criteria review is in fact ensuring that
labelled products are meeting the
performance expectations of the
consumer. With this action, the EPA is
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Federal Register / Vol. 85, No. 70 / Friday, April 10, 2020 / Notices
requesting input on ways it could better
understand and collect information on
consumer satisfaction with WaterSense
labelled products as the EPA continues
to evaluate considerations relating to
system performance, health, and safety.
Specifically, the EPA is seeking input
on how it could design a study or
studies for use in future reviews that
incorporate customer considerations.
For example, we are interested in input
on how we could use a survey or
surveys to determine what type of
products consumers would like to see
on the market, the performance
attributes that are important to
consumer choice and satisfaction, the
range of performance customers are
seeking in those attributes, and what
additional features or options related to
efficiency consumers would like to see
in WaterSense products. The EPA is
also interested in input on the collection
method, frequency, and source of the
information as we seek to balance any
burden the collection would impose on
the public with the usefulness the
information would provide the Agency.
Lastly, the EPA seeks input on
whether there are specific consumer
satisfaction considerations, test
methods, or additional criteria it should
consider adding to the WaterSense
guidelines.
Dated: April 7, 2020.
Andrew D. Sawyers,
Director, Office of Wastewater Management.
[FR Doc. 2020–07602 Filed 4–9–20; 8:45 am]
BILLING CODE 6560–50–P
ENVIRONMENTAL PROTECTION
AGENCY
[ER–FRL–9050–3]
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Environmental Impact Statements;
Notice of Availability
Responsible Agency: Office of Federal
Activities, General Information 202–
564–5632 or https://www.epa.gov/nepa.
Weekly receipt of Environmental Impact
Statements (EIS)
Filed March 30, 2020, 10 a.m. EST
Through April 6, 2020, 10 a.m. EST
Pursuant to 40 CFR 1506.9.
Section 309(a) of the Clean Air Act
requires that EPA make public its
comments on EISs issued by other
Federal agencies. EPA’s comment letters
on EISs are available at: https://
cdxnodengn.epa.gov/cdx-enepa-public/
action/eis/search.
EIS No. 20200079, Final, NHTSA, REG,
Final EIS for The Safer Affordable
Fuel-Efficient (SAFE) Vehicles Rule
for Model Year 2021–2026 Passenger
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Cars and Light Trucks, Contact: Vinay
Nagabhushana 202–366–1452.
Under 49 U.S.C. 304a(b), NHTSA has
concurrently issued a final
environmental impact statement and
record of decision. Therefore, the 30-day
wait/review period under NEPA does
not apply to this action.
EIS No. 20200080, Revised Final, USFS,
WY, Medicine Bow Landscape
Vegetation Analysis (LaVA) Project,
Review Period Ends: 05/11/2020,
Contact: Melissa Martin 307–745–
2371.
EIS No. 20200081, Draft, TVA, IL, Sugar
Camp Energy, LLC Mine Number 1,
Comment Period Ends: 05/27/2020,
Contact: Elizabeth Smith 865–632–
3053.
EIS No. 20200082, Final, USFS, CO, Rio
Grande Forest Plan Revision, Review
Period Ends: 05/11/2020, Contact:
Judi Perez 719–588–8889.
EIS No. 20200083, Final, BLM, NM,
Borderlands Wind Project Final
Environmental Impact Statement and
Proposed Resource Management Plan
Amendment, Review Period Ends: 05/
11/2020, Contact: James Stobaugh
775–861–6478.
EIS No. 20200084, Revised Draft, GSA,
AZ, Expansion and Modernization of
the San Luis I Land Port of Entry,
Comment Period Ends: 07/02/2020,
Contact: Osmahn Kadri 415–522–
3617.
EIS No. 20200085, Final, USACE, CA,
Final Sacramento River Bank
Protection Project Phase II
Supplemental Authorization
Environmental Impact Statement/
Environmental Impact Report, Review
Period Ends: 05/11/2020, Contact:
Patricia Goodman 916–557–7420.
Amended Notice
EIS No. 20200055, Draft, CHSRA, CA,
California High-Speed Rail:
Bakersfield to Palmdale Section Draft
Environmental Impact Report/
Environmental Impact Statement,
Comment Period Ends: 04/28/2020,
Contact: Dan McKell 916–501–8320.
Revision to FR Notice Published 2/28/
2020; Extending the Review Period
from 4/13/2020 to 4/28/2020.
Dated: April 6, 2020.
Cindy S. Barger,
Director, NEPA Compliance Division, Office
of Federal Activities.
[FR Doc. 2020–07572 Filed 4–9–20; 8:45 am]
BILLING CODE 6560–50–P
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ENVIRONMENTAL PROTECTION
AGENCY
[FRL–10006–92–OW]
Notice of Availability of the Deepwater
Horizon Oil Spill Louisiana Trustee
Implementation Group Final
Restoration Plan and Environmental
Assessment #6: Wetlands, Coastal,
and Nearshore Habitats and Finding of
No Significant Impact
Environmental Protection
Agency (EPA).
ACTION: Notice of availability.
AGENCY:
In accordance with the Oil
Pollution Act of 1990 (OPA) and the
National Environmental Policy Act
(NEPA), the Federal and State natural
resource trustee agencies for the
Louisiana Trustee Implementation
Group (Louisiana TIG) prepared the
Final Restoration Plan and
Environmental Assessment #6:
Wetlands, Coastal, and Nearshore
Habitats (Final RP/EA #6). The Final
RP/EA #6 describes and, in conjunction
with the associated Finding of No
Significant Impact (FONSI), selects
three restoration project alternatives
considered by the Louisiana TIG to
restore and conserve wetlands, coastal,
and nearshore habitats injured as a
result of the Deepwater Horizon oil
spill. The Louisiana TIG evaluated these
alternatives under criteria set forth in
the OPA natural resource damage
assessment (NRDA) regulations, and
also evaluated the environmental
consequences of the restoration
alternatives in accordance with the
NEPA. The selected projects are
consistent with the restoration
alternatives selected in the Deepwater
Horizon Oil Spill Final Programmatic
Damage Assessment and Restoration
Plan/Programmatic Environmental
Impact Statement (PDARP/PEIS). The
Federal Trustees of the Louisiana TIG
have determined that implementation of
the Final RP/EA #6 is not a major
federal action significantly affecting the
quality of the human environment
within the context of the NEPA. They
have concluded a FONSI is appropriate,
and, therefore, an Environmental Impact
Statement will not be prepared. This
notice informs the public of the
approval and availability of the Final
RP/EA #6 and FONSI.
ADDRESSES: Obtaining Documents: You
may download the Final RP/EA #6 and
FONSI at any of the following sites:
• https://
www.gulfspillrestoration.noaa.gov
• https://www.la-dwh.com
SUMMARY:
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[Federal Register Volume 85, Number 70 (Friday, April 10, 2020)]
[Notices]
[Pages 20268-20274]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2020-07602]
-----------------------------------------------------------------------
ENVIRONMENTAL PROTECTION AGENCY
[EPA-HQ-OW-2020-0026; FRL-10007-06-OW]
Notice of Recent Specifications Review and Request for
Information on WaterSense Program
AGENCY: Environmental Protection Agency (EPA).
ACTION: Notice; request for information.
-----------------------------------------------------------------------
SUMMARY: The Environmental Protection Agency (EPA) is announcing the
completion of the review of WaterSense product performance criteria as
required under the America's Water Infrastructure Act (AWIA) of 2018.
The AWIA required the EPA to consider for review and revision, if
necessary, specifications which were released prior to 2012. The EPA
has completed its review and made the decision not to revise any
specifications. A summary of the review and findings are included in
this document. Additionally, this document announces that the EPA is
seeking input and requesting information on any data, surveys, or
studies to help assess consumer satisfaction with WaterSense labeled
products, which could inform future product specification development.
The EPA is also seeking input on how to design a study or studies to
inform future reviews that incorporate customer satisfaction
considerations. The results of these studies could inform future Agency
action when developing criteria for labeling products in the WaterSense
program. The EPA is also requesting input on whether it should include
consumer satisfaction criteria into the WaterSense program guidelines
and, if included, what criteria should be considered and how.
DATES: Comments on these items must be received on or before June 9,
2020.
ADDRESSES: You may send comments, identified by Docket ID No. EPA-HQ-
OW-2020-0026, by the following method:
Federal eRulemaking Portal: https://www.regulations.gov/.
Follow the online instructions for submitting comments.
Instructions: All submissions received must include the Docket ID
No. for this notification. Comments received may be posted without
change to https://www.regulations.gov/, including any personal
information provided. For detailed instructions on sending comments and
additional information on the rulemaking process, see the ``How do I
submit written comments?'' heading of the SUPPLEMENTARY INFORMATION
section of this document.
FOR FURTHER INFORMATION CONTACT: For additional information, please
contact Stephanie Tanner, Office of Water (mail code 4204M),
Environmental Protection Agency, 1200 Pennsylvania Avenue, NW,
Washington, DC, 20460; telephone number: 202-564-2660; or email:
[email protected] (preferred). Also see the following website
for additional information on this topic: https://www.epa.gov/watersense/product-specification-review.
SUPPLEMENTARY INFORMATION:
I. How do I submit written comments?
Submit your comments, identified by Docket ID No. EPA-HQ-OW-2020-
0026, at https://www.regulations.gov/. Once submitted, comments cannot
be edited or removed from the docket. The EPA may publish any comment
received to its public docket. Do not submit electronically any
information you consider to be Confidential Business Information (CBI)
or other information whose disclosure is restricted by statute.
Multimedia submissions (audio, video, etc.) must be accompanied by a
written comment. The written comment is considered the official comment
and should include discussion of all points you wish to make. The EPA
will generally not consider comments or comment contents located
outside of the primary submission (i.e., on the web, cloud, or other
file sharing system). For additional submission methods, the full EPA
public comment policy, information about CBI or multimedia submissions,
and general guidance on making effective comments, please visit https://www.epa.gov/dockets/commenting-epa-dockets.
II. Background
The Energy Policy Act (EPAct) of 1992 amended the Energy Policy and
Conservation Act by, among other things, establishing mandatory minimum
water use standards for plumbing products, with compliance required
beginning in 1994. The EPAct mandated a maximum flush volume of 1.6
gallons per flush (gpf) for toilets, 2.2 gallons per minute (gpm) flow
rate for faucets, and a 2.5 gpm flow rate for showerheads. The
Department of Energy (DOE) issued regulations implementing those
statutory standards. The first toilets and showerheads that met these
standards in the mid-1990s did not perform well because they had not
been redesigned to use less water.
In the early 2000's, a stakeholder group of about 100 cities, water
utilities, non-governmental organizations, and manufacturers of water-
using products approached the EPA to ask for assistance in bringing
order and credibility to the marketplace for water-efficient products.
Several utilities were working to develop their own performance test
methods for products, but each individual utility had different tests
and different lists of approved products. Manufacturers noted that it
was difficult and expensive to make products that met different
requirements. Stakeholders expressed a wish for an ``ENERGY STAR''-like
program for water-using products that would be both voluntary and non-
regulatory. The EPA responded by launching the WaterSense program in
2006.
WaterSense is a voluntary partnership program sponsored by the EPA
which was initially launched in 2006 as an initiative to educate
American consumers on making smart water choices that save money and
maintain high performance standards. The WaterSense label makes it
easier for consumers to identify water-efficient products, new homes,
and programs that meet the EPA's criteria for efficiency and
performance. WaterSense-labeled products and services are independently
certified to use at least 20 percent less water, save energy, and
perform as well as or better than standard models. WaterSense partners
with manufacturers, retailers and distributors, homebuilders,
irrigation professionals, and utilities to encourage innovation in
manufacturing and support jobs for American workers.
To date, the program has specifications for the seven products
identified in the table below. Criteria for the specifications have
also been adopted into voluntary consensus reference standards. Several
of the products are also covered by mandatory federal DOE plumbing
standards, as described in the table. More than 30,000 models of
products have been certified to the WaterSense label and nearly 500
million products have been shipped, according to reporting by
WaterSense manufacturer partners.
[[Page 20269]]
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Initial release date
Specification (current version with Reference standards Covered by DOE
release date) regulation?
----------------------------------------------------------------------------------------------------------------
WaterSense Specification for Tank- January 24, 2007....... American Society of Yes.
Type Toilets. (Version 1.2, June 2, Mechanical Engineers
2014). (ASME) A112.19.2/
Canadian Standards
Association (CSA)
B45.1.
High-Efficiency Lavatory Faucet October 1, 2007........ ASME A112.18.1/CSA Yes.
Specification. B125.1.
WaterSense Specification for Flushing October 8, 2009........ ASME A112.19.2/CSA Yes.
Urinals. B45.1; American
Society of Sanitary
Engineering (ASSE)
1037.
WaterSense Specification for March 4, 2010.......... ASME A112.18.1/CSA Yes.
Showerheads. (Version 1.1, July 26, B125.1.
2018).
WaterSense Specification for Weather- November 3, 2011....... Smart Water Application No.
Based Irrigation Controllers. Technologies (SWAT)
Test Protocol for
Climatologically Based
Controllers (Draft)
with modifications.
WaterSense Specification for December 17, 2015...... ASME A112.19.2/CSA Yes.
Flushometer-Valve Water Closets. B45.1 Ceramic Plumbing
Fixtures, ASME
A112.19.3/CSA B45.4
Stainless Steel
Plumbing Fixtures, or
CSA B45.5/IAPMO Z124
Plastic Plumbing
Fixtures.
WaterSense Specification for Spray September 21, 2017..... ASABE/ICC 802-2014, No.
Sprinkler Bodies. Sprinkler and Bubbler
Design Requirements.
----------------------------------------------------------------------------------------------------------------
III. The American Water Infrastructure Act (AWIA) of 2018 and Review of
Specifications
The WaterSense program was officially authorized by Congress in
October 2018 under the AWIA (Pub. L. 115-270, Section 4306). The
provisions under section 4306 of AWIA are largely consistent with how
the program has operated since it began. The law requires the program
to periodically review and, if appropriate, revise specifications,
although not more frequently than every six years after adoption or
major revision of performance criteria. The law also required that, not
later than December 31, 2019, the EPA ``consider for review and revise,
if necessary, any WaterSense performance criteria adopted before
January 1, 2012.'' In response to AWIA, the EPA commenced a review of
five WaterSense specifications that were issued prior to January 1,
2012: Tank type toilets, lavatory faucets and accessories, showerheads,
flushing urinals, and weather-based irrigation controllers.
The EPA initiated its specification review process in December 2018
when it released the WaterSense Notice of Specification Review.\1\ That
notice provided the EPA's initial considerations and criteria for
evaluating whether to revise the relevant specifications. The EPA
considered the following in determining the feasibility in
establishing, or in this case, revising a product specification:
---------------------------------------------------------------------------
\1\ WaterSense Notice of Specification Review, December 20,
2018. www.epa.gov/sites/production/files/2018-12/documents/ws-notice-of-specification-review.pdf.
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Equal or superior product performance compared to
conventional models,
Potential for significant water savings on a national
level,
State of technology development--product categories that
rely on a single, proprietary technology will not be eligible for the
label,
Assurance that the development (or revision) of a
specification will not lead to unintended or negative environmental or
economic impacts,
Ability to measure and verify water savings and
performance, and
Cost-effectiveness.
In the context of the criteria above, the EPA reviewed the scope,
efficiency, and performance criteria within each specification under
consideration for revision to determine if updates may be necessary.
The EPA also reviewed the current product marketplace, including
product shipment data submitted by WaterSense manufacturer partners as
part of annual reporting, to understand the market share of WaterSense
labeled products and learn about technological advancements and
subsequent efficiency and performance improvements that have been made
since each specification's initial release.
The evaluation considered technical and scientific studies, trends
in product labeling, other specifications (regulatory or voluntary),
and market drivers. WaterSense considered the water savings potential
of changes; as well as potential impacts on product performance, the
larger built system, and public health. WaterSense also sought feedback
on potential scope expansion and/or new product categories for
labeling.
Throughout 2019, the EPA conducted additional product research and
collected information from program stakeholders related to the current
marketplace for WaterSense labeled products. The EPA also solicited
feedback on potential changes to each specification's scope, water
efficiency criteria, performance criteria, and the marking requirements
of the product package. Through solicitation of public comments \2\ and
a series of public webinars \3\ targeted to specific stakeholder
groups, the EPA collected feedback to help guide its decision-making
with respect to considering specification revisions.
---------------------------------------------------------------------------
\2\ A compilation of public comments received as part of the
EPA's specification review can be viewed at www.epa.gov/watersense/product-specification-review#Comments.
\3\ Presentation materials, meeting summaries, and recordings
can be accessed at www.epa.gov/watersense/product-specification-review#webinars.
---------------------------------------------------------------------------
Comments received and polls conducted during the public webinars
showed a difference of opinion among partner types as to the decisions
the program should make. Based on the public comments submitted,
plumbing manufacturers generally preferred to maintain the current
specification efficiency levels and suggested WaterSense instead focus
on improving stock penetration of existing labeled products.
Promotional partners (e.g., water utilities, units of local government,
non-governmental organizations) generally indicated they were
interested in improved efficiency, but not necessarily at the expense
of product or plumbing system performance. Summaries of the
certification trends and stakeholder input from the informal
stakeholder polls taken during the EPA's specification review public
webinars are available on the WaterSense website at https://www.epa.gov/watersense/product-specification-review.
Some commenters raised concerns about potential impacts that water
efficiency could have on building
[[Page 20270]]
premise plumbing systems, drinking water and wastewater infrastructure,
and water quality. These commenters stated many buildings and
infrastructure systems, including residential home plumbing systems,
within the United States were designed for much higher water demand and
flows. With more efficient plumbing fixtures and appliances available,
and changes in how water is used, there is potential to create flow
conditions within plumbing systems that are different from what they
were designed to accommodate. For example, commenters noted drinking
water has a longer residence time in the plumbing system pipes before
delivery indoors for public use. A reduction to the flow rate may
contribute to conditions (e.g., water aging, temperature, odor) that
are conducive to the growth of opportunistic pathogens (e.g.,
Legionella pneumophila) and other water quality issues. To understand
these issues further, in August 2018 the EPA co-organized a workshop
with the National Institute of Standards and Technology (NIST) and the
Water Research Foundation (WRF) to establish research objectives
related to water use efficiency and water quality in premise plumbing
systems. Participants from the workshop identified research gaps that
are still needed relating to low flow volumes on premise plumbing
systems and its impact on water quality, usage, and efficiency.
Comments were also received regarding potential impacts on state
laws of further lowering the WaterSense requirements for water
consumption levels for tank-type toilets, lavatory faucets, urinals and
showerheads. For example, at least six states have already adopted
regulations mandating performance requirements consistent with the EPA
WaterSense specifications. The EPA is aware that further revisions to
the criteria to improve water efficiency beyond the current WaterSense
specifications may result in state law and local adoption of
requirements.
The EPA considered all information provided and comments received
in its specification review as required under AWIA and made the
decision not to make changes to existing specifications. In future
reviews, the EPA will further consider the issues raised in this review
related to system performance, health, and safety. Also, the EPA is
focused on promoting plumbing and infrastructure systems that are built
and managed for both water efficiency and water quality. As such,
WaterSense will be cognizant of these potential unintended consequences
as it considers revisions to any of its product specifications.
As part of its specification development review process, the EPA
has solicited information from program partners on what updates to
performance criteria or referenced standards WaterSense should consider
incorporating into specifications that would benefit the user
experience and ensure long-term water savings. In future reviews, the
EPA is considering including requests for additional information from
program partners regarding consumer satisfaction and product choice in
the performance specification review of the WaterSense products.
Several commenters advised the EPA to conduct a user satisfaction study
prior to a revision of a performance specification. This action seeks
comment from the broader public in order to address the potential and
method for inclusion of consumer satisfaction when evaluating changes
to the WaterSense product performance criteria. The EPA request for
consumer satisfaction information is discussed further in section V of
this document.
IV. Summary of Information Collected From the WaterSense Specification
Review
Each product-specific section below includes a summary of the EPA's
findings in the WaterSense specification review process. As noted
above, the EPA has made the determination not to revise any of the
specifications. In the future, should the Agency make the decision to
revise the specification of any WaterSense product, a Notice of Intent
(NOI) would officially initiate the specification revision process. In
the NOI, the EPA would identify potential major and minor revisions it
intends to include in the specification revision. Stakeholders will
have an opportunity to comment on the content of the NOI prior to the
EPA's development of any draft revised specification for each
WaterSense product-specific type. The draft specification would
likewise be made available for public comment prior to final revisions.
(a) Tank-Type Toilets
The Federal standard for tank-type toilets set a maximum flush
volume of 1.6 gallons per flush (gpf). The EPA released the WaterSense
Specification for Tank-Type Toilets on January 24, 2007, which set a
maximum efficiency level of 1.28 gpf and established criteria to
evaluate performance. The EPA has since completed two minor revisions
to the specification, releasing the latest version (Version 1.2) in
June 2014. To date, manufacturer partners have produced nearly 3,900
WaterSense labeled tank-type toilet models.
As part of its review of the tank-type toilets specification, the
EPA considered whether to reduce the maximum allowable flush volume
criteria to improve water efficiency beyond what is required in the
current WaterSense specification. The EPA also considered whether to
modify its performance criteria to require that labeled toilets be able
to flush a larger quantity of waste and/or toilet paper.
While not specifically included as a consideration in the
WaterSense Notice of Specification Review, during the stakeholder
engagement process the EPA received feedback from several utility and
promotional partners expressing concern about the actual water savings
from dual-flush toilets. Under the current specification, dual-flush
toilets must have an effective flush volume not to exceed 1.28 gallons
gpf (4.8 liters per flush [lpf]) and remove at least 350 grams of solid
waste per flush. As a result of the public comments, the EPA also
considered whether to modify or eliminate the effective flush
calculation from the specification.
Findings
To date, eight states and multiple municipalities throughout the
United States have adopted regulations mandating that tank-type toilets
have a flush volume of 1.28 gpf or less, consistent with the WaterSense
specification. A report commissioned by Plumbing Manufacturers
International (PMI) estimates that the market penetration of WaterSense
labeled tank-type toilet models is only 17 percent of all models
currently installed in the United States.\4\ While many jurisdictions
now require 1.28 gpf toilets, the EPA does not know of any that mandate
toilets to flush below 1.28 gpf. Therefore, the market has not shifted
below the WaterSense water efficiency threshold.
---------------------------------------------------------------------------
\4\ GMP Research Inc., June 2019. 2019 U.S. WaterSense Market
Penetration. A GMP Research Industry Report commissioned by PMI.
---------------------------------------------------------------------------
As part of the specification review, the EPA received feedback from
several utility and promotional partners expressing concern over water
savings resulting from dual-flush toilets. Currently, WaterSense
labeled dual-flush toilets may have full-flush volumes of up to 1.6 gpf
(commensurate with a standard toilet) and still meet the effective
flush volume requirement. Commenters indicated that realization of
water savings is based on user behaviors related to activation of the
full- and reduced-flushes and expressed
[[Page 20271]]
concern that the effective flush volume ratio of two reduced flushes to
one full flush is not typically employed in real-world applications. As
a result, WaterSense labeled dual-flush tank-type toilets might not
achieve the minimum 20 percent water savings.\5\
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\5\ See the WaterSense Plumbing Fixtures Specification Review
Webinar for a summary of dual-flush toilet studies. For tank-type
toilets, ratios of reduced flushes to full flushes ranged from
0.48:1 to 1.7:1.
---------------------------------------------------------------------------
Comments were also received relating to increasing the quantity of
waste and/or toilet paper beyond the 350 grams of solid waste per flush
required. A comment was made that this may encourage manufactures to
focus on solids and not sufficiently on other attributes like bowl
cleaning and lighter waste removal, which require fluid dynamic design
considerations different from bulk waste removal. According to a
customer satisfaction survey conducted by the Metropolitan Water
District of Southern California in 1999, bowl cleanliness was the
number one reason for double flushing. Increasing the gram requirement
may unduly impact product choice, consumer satisfaction and offset any
savings in water usage.
Currently, the EPA is funding two studies examining low-flow
plumbing fixtures on water quality: Drexel University, ``Water
Conservation and Water Quality: Understanding the Impacts of New
Technologies and New operational Strategies;'' and Purdue, Michigan
State, and San Jose Universities, ``Right Sizing Tomorrow's Water
Systems for Efficiency, Sustainability, and Public Health.'' These
studies will provide insight on the potential impact of declining
wastewater flows of pollutants and solid concentrations through the
premise plumbing system on blockages, odor, corrosion in pipes, and
subsequently, on water quality and human health. In light of these
ongoing studies, and consideration of the public comments received, the
EPA has made the determination not to make changes to existing
specifications. The EPA would like to more fully evaluate the impacts
of low-flow plumbing fixtures on water quality and public health. The
EPA would consider information from these studies in any future review.
In addition, as discussed below, the EPA would consider available data
gathered from this action on customer satisfaction and the impacts of a
change on consumer product choice in any further review of product
specification.
(b) Lavatory Faucets and Faucet Accessories
The Federal standard for lavatory faucets set a maximum flow rate
of 2.2 gallons per minute (gpm). The EPA released the High-Efficiency
Lavatory Faucet Specification on October 1, 2007, which set a maximum
flow rate of 1.5 gpm and established criteria to evaluate performance.
WaterSense has not revised the specification since its initial release.
The specification currently establishes criteria for lavatory faucets
and faucet accessories (e.g., flow restrictors, flow regulators,
aerator devices, laminar devices). To date, manufacturers have produced
more than 18,000 WaterSense labeled lavatory faucet and accessory
models.
As part of its review of the lavatory faucets and accessories
specification, the EPA considered whether to reduce the maximum
allowable flow rate criteria to improve water efficiency beyond the
current WaterSense specification. The EPA also considered whether to
expand the scope of the specification to accommodate other faucet
types, including residential kitchen faucets and metering faucets as
requested by manufacturers over the last several years.
Findings
To date, five states and multiple municipalities throughout the
United States have adopted regulations mandating that lavatory faucets
have a flow rate of 1.5 gallons per minute (gpm) (5.7 liters per minute
[lpm]) or less, consistent with the WaterSense specification. Further,
unlike tank-type toilets where states have adopted efficiency
regulations at the WaterSense level, some states have established
regulations setting flow rates lower than the WaterSense flow rate
maximum for lavatory faucets. As of July 1, 2016, California requires
lavatory faucets to have a flow rate of 1.2 gpm [4.5 lpm] or less.
Washington and Hawaii subsequently enacted similar efficiency
regulations for lavatory faucets, which take effect in 2021.
The EPA has not been made aware of any performance issues related
to lavatory faucets flowing at 1.0 or 1.2 gpm. As part of its initial
specification development, the EPA established a minimum flow rate 0.8
gpm [3.0 lpm] at 20 psi to ensure user satisfaction with WaterSense
labeled lavatory faucets and faucet accessories across a range of
potential household water pressures. The EPA needs to further evaluate
available data and information to determine if a different minimum flow
rate is appropriate and if it will meet customer expectations.
Five states throughout the United States, including California,
have adopted regulations mandating that residential kitchen faucets
have a maximum flow rate of 1.8 gpm [6.8 lpm] or less--nearly 20
percent lower than the current national standard with the option to
have an override that allows the faucet to temporarily flow up to 2.2
gpm [8.3 lpm] for pot filling. Compliant products in California are
listed on the California Modernized Appliance Efficiency Database
System (MAEDBS).
The EPA would need to evaluate multiple performance considerations
as part of the specification development process for residential
kitchen faucets should this product-type be added to the WaterSense
program. Considerations include, but are not limited to, whether to
incorporate a minimum flow rate and whether to allow a temporary
override for pot filling. Further, as discussed below, a review of
customer satisfaction data and data on the impacts of a change on
consumer product choice would help provide a comprehensive evaluation
of existing product performance for both lavatory and kitchen faucets.
Based on these findings, the EPA has made the determination not to make
changes to existing specifications for lavatory faucets.
(c) Showerheads
The Federal standard for showerheads sets a maximum flow rate of
2.5 gallons per minute (gpm). The EPA released the WaterSense
Specification for Showerheads on March 4, 2010, which set a maximum
flow rate of 2.0 gpm and established criteria to evaluate performance.
WaterSense completed a minor revision to the specification, releasing
Version 1.1 on July 26, 2018. To date, manufacturers have produced more
than 9,300 WaterSense labeled showerhead models.
As part of its review of the showerhead specification, the EPA
considered whether to adjust the maximum flow rate criteria to improve
water efficiency beyond the current WaterSense specification. The EPA
also considered how any adjustment to the flow rate could have
unintended consequences to public health and safety without the
corresponding change to the overall infrastructure of the premise
plumbing system.
Findings
The EPA has observed market changes since the initial publication
of the specification in 2010. To date, five states and multiple
municipalities throughout the United States have
[[Page 20272]]
adopted regulations mandating that showerheads have a flow rate of 2.0
gallons per minute (gpm) (7.6 liters per minute [pm]) or less,
consistent with the WaterSense specification. In addition, as of July
1, 2018, California requires showerheads to have a flow rate of 1.8 gpm
[6.8 lpm] or less. Washington and Hawaii have subsequently enacted
similar efficiency regulations for showerheads, which take effect in
2021.
To date, approximately 63 percent of WaterSense labeled showerheads
(as defined by the American Society of Mechanical Engineers) have a
maximum flow rate of 1.8 gpm or less, and 77 percent of models
certified since 2017 have a maximum flow rate of 1.8 gpm or less.
In public comments, some manufacturers expressed concern that
reducing the maximum flow rate to 1.8 gpm or less would result in more
consumer complaints. In addition, several stakeholders expressed
caution regarding lowering the flow rate further without consideration
of health and safety impacts, including waterborne opportunistic
pathogens (e.g., Legionella), thermal shock, and scalding. While water
conservation is only one of potentially many factors influencing water
quality in premise plumbing, showers are one of the primary routes of
exposure through which humans could encounter these waterborne
pathogens. The two research studies the EPA is currently funding will
provide more insight on the impacts of water conservation (lowering the
flow rate) on public health.\6\ \7\
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\6\ Drexel University, Pennsylvania State University and
University of Colorado at Boulder. ``Water Conservation and Water
Quality: Understanding the Impacts of New Technologies and New
Operational Strategies.'' EPA Grant Number: R836880.
\7\ Purdue University, Michigan State University, San Jose State
University and Tulane University. ``Right Sizing Tomorrow's Water
Systems for Efficiency, Sustainability, and Public Health.'' EPA
Grant Number: R836890.
---------------------------------------------------------------------------
In addition, since the initial release of the specification, the
plumbing industry has worked to harmonize the automatic-compensating
mixing valve standard (ASSE 1016/ASME A112.1016/CSA B125.16 Performance
requirements for automatic compensating valves for individual showers
and tub/shower combinations) and the showerhead standard (ASME
A112.18.1/CSA B125.1). This harmonization was completed to address
incompatibilities of these plumbing system components and to ensure
products are marked and packaged consistently to educate consumers and
plumbing professionals on thermal shock and scalding risks. As part of
its specification review, the EPA received comments that thermal shock
and scalding pose a greater risk at lower showerhead flow rates.
However, one water utility stated that thousands of higher-efficiency
(i.e., 1.5 gpm or less) showerheads have been given away by California
energy providers without complaints or reported incidents related to
thermal shock and scalding.
Based on its findings, the EPA has decided to make no changes to
the product specification. In any future review, as discussed below,
the EPA will consider information from the two ongoing studies and data
on consumer satisfaction.
(d) Flushing Urinals
The Federal standard for urinals sets a maximum flush volume of 1.0
gallons per flush (gpf). The EPA released the WaterSense Specification
for Flushing Urinals on October 8, 2009, which set a maximum flush
volume of 0.5 gpf and established criteria to evaluate performance.
WaterSense has not revised the specification since its initial release.
To date, manufacturers have produced more than 700 WaterSense labeled
product models--including flush devices, fixtures, and urinal systems
(combinations of urinal flushing devices and fixtures).
As part of its review of the flushing urinals specification, the
EPA considered whether to adjust the maximum allowable flush volume
criteria to improve water efficiency beyond the current WaterSense
specification, taking into account the potential impact this may have
on the plumbing system and drain line performance. The EPA also
considered whether to expand the scope of the specification to include
either non-water urinals or non-water urinals with a drain-cleansing
action.
Findings
To date, six states and multiple municipalities throughout the
United States have adopted regulations mandating that urinals have a
flush volume of 0.5 gallons per flush (gpf) (1.9 liters per flush
[lpf]) or less, consistent with the WaterSense specification. As of
January 1, 2016, California requires wall-mounted urinals to have a
flush volume of 0.125 gpf [0.5 lpf] or less, although non-wall mounted
urinals can have a flush volume up to 0.5 gpf. Washington enacted
similar efficiency regulations for urinals, which take effect starting
in 2021.
A report commissioned by PMI estimates that the market penetration
of WaterSense labeled models is as low as 2 percent of all models
currently installed.\8\
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\8\ GMP Research Inc, June 2019. 2019 U.S. WaterSense Market
Penetration. A GMP Research Industry Report commissioned by PMI.
---------------------------------------------------------------------------
While some states and municipalities have chosen to move forward
with promoting more efficient urinals, several stakeholders, including
water utilities, raised concerns in written comments about the efficacy
and performance of ultra-high-efficiency (i.e., 0.125 gpf) urinals and
non-water urinals, particularly in retrofit applications where a
building's plumbing system was not designed for lower flows. As part of
its specification review, the EPA was not able to identify any new
research that assessed the impacts of flow rate on urinal performance,
although it is aware of one study that is ongoing in Austin, Texas that
intends to evaluate the impacts of flow rate and water quality on
urinal and drain line performance. The study is also looking into the
excessive build-up of struvite, a common reason for drain line
blockages, and the odor associated with low flow and non-water urinals.
The EPA learned during the review that consumer dissatisfaction of
drain line blockages and odor have led to product replacements of low
flow and non-water urinals. More information is needed to understand
the scope of these consumer concerns and if other concerns exist.
With this specification review, the EPA did not receive sufficient
data or information to suggest that it should incorporate non-water
urinals into the WaterSense urinals specification.
The EPA has made the determination not to make changes to existing
specifications. The EPA will monitor ongoing research on flushing
urinals and other types of urinals available now or entering the
marketplace. If information becomes available that provides more data
on the efficacy of ultra-high-efficiency (i.e., 0.125 gpf) urinals,
non-water urinals, and non-water urinals with a drain-cleansing action,
the EPA would consider this information in any future review. Further,
as discussed below, a review of customer satisfaction data and data on
the impacts of a change on consumer product choice would help provide a
complete comprehensive evaluation of existing product performance.
(e) Weather-Based Irrigation Controllers
The EPA released the WaterSense Specification for Weather-Based
Irrigation Controllers on November 3, 2011. There are no Federal
standards for this product category. While the EPA
[[Page 20273]]
has not revised this specification since its publication, WaterSense
has issued several technical clarifications in the intervening years to
better define the requirements. The specification applies to stand-
alone controllers, add-on devices, and plug-in devices (collectively
referred to in the specification as controllers) that use weather data
as a basis for scheduling irrigation.
Weather-based irrigation controllers currently on the market
either: (1) Utilize onsite weather sensors; (2) receive a weather
signal from a local weather station(s); or (3) use both to schedule
irrigation to meet plant needs. To date, manufacturers have produced
nearly 800 WaterSense labeled weather-based irrigation controller
models.
As part of its review of the weather-based irrigation controller
specification, the EPA considered whether a significant growth in the
market for these products and a shift to cloud-based products would
benefit from a revision to the specification. Specifically, the EPA
considered whether to revise the test method used to determine product
performance. The EPA also considered whether to revise the supplemental
capability requirements and/or product packaging and labeling
requirements.
The EPA acknowledges that there has been a significant increase in
both the number of brands of weather-based irrigation controllers on
the market, as well as the number of labeled models since the
specification was published in 2011. Further, due to technological
advancements in the industry, there has been a shift to cloud-based
products that make use of smartphones and smart home devices. Many
manufacturers and other stakeholders currently in the marketplace were
not in existence and able to participate in specification development
prior to 2011, so WaterSense aimed to ensure their input was received
during the specification review process. The EPA has evaluated the
specification, as described below, in light of this market growth to
ensure the specification developed in 2011 is still relevant for
products entering the market today.
Findings
While market growth has been significant since the release of the
specification, WaterSense estimates that less than 10 percent of
existing irrigation systems installed in the United States have a smart
irrigation control technology,\9\ or those that alter irrigation
schedules based on weather or soil moisture data. Because the remaining
90 percent of the market available for transformation will likely move
towards smart irrigation control technology, stakeholders, including
both utilities and manufacturers, were not in favor of revising the
specification.
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\9\ Schein, Letschert, Chan, Chen, Dunham, Fuchs, McNeil,
Melody, Stratton, and Williams. 2017. Methodology for the National
Water Savings and Spreadsheet: Indoor Residential and Commercial/
Institutional Products, and Outdoor Residential Products. Lawrence
Berkley National Laboratory. Table A-4. Schein et al. describes the
detailed technical approach to WaterSense's stock accounting
practice for irrigation products using values available as of the
publication date. As it is the EPA's practice to continuously update
its work as data become available, the values referenced here are
for the 2018 analysis, the most recent year available.
---------------------------------------------------------------------------
The EPA also asked stakeholders during the specification review
process whether the supplemental capability requirements included in
the current version of the specification remained relevant for products
entering the market today. The EPA received no feedback during the
public comment period, stakeholder webinars or targeted outreach
indicating that any of these requirements should be removed. Two
commenters expressed concern over products being able to be easily
switched to or operate in standard mode.
The EPA has made the determination not to make changes to existing
specifications. The EPA will continue to participate in the American
Society of Agricultural and Biological Engineers (ASABE) X627
Environmentally Responsive Landscape Irrigation Control Systems
standard development process. In addition, as discussed below, the EPA
will consider data received on customer satisfaction and the impact of
a consumer product choice in its review of product performance in any
future review.
V. Request for Information on Consumer Satisfaction
As the EPA developed the framework for the WaterSense program to
provide opportunities for additional water savings, the WaterSense
program established a goal that labeled products should use at least 20
percent less water than standard products. The program includes
efficiency criteria in its specifications to assess products for water
use. Additionally, the program set a goal that labeled products should
perform as well as or better than regular models and included
performance criteria in its specifications to assess performance.
WaterSense has included strong performance requirements in its
specifications and used independent organizations to certify that
labelled products meet the EPA criteria. The Agency is seeking to
better understand consumer satisfaction with the performance of
existing labelled products and whether further changes to the
specifications could impact consumer satisfaction. The Agency is also
exploring ways that it could collect additional information on consumer
satisfaction through its own consumer survey or surveys to inform
future decision-making. Understanding consumer satisfaction is
important to the EPA as the Agency seeks to ensure that our performance
criteria review is in fact ensuring that labelled products are meeting
the same standards as products on the market before the WaterSense
label was adopted. This request for information will also help the
program identify performance issues it may be able to correct by
including new, or revising existing, performance criteria in its
product specifications.
WaterSense has an ongoing dialogue with program partners (described
in Section II of this document) about the program. In order to more
fully assess consumer satisfaction, WaterSense is working with its
program partners to identify any data, surveys, or studies that have
assessed consumer satisfaction with labeled products but recognizes
that additional information may exist. WaterSense does not currently
collect information on the purchase of individual products, but some of
its program partners and other parties may have information to help the
EPA evaluate whether consumers are satisfied with water-efficient
WaterSense labeled products. For example, retail partners or
manufacturers may have information on whether WaterSense labeled
products are returned at a proportionally greater or lower rate than
non-labeled products or other indications of consumer satisfaction.
Water utilities and local governments which provide rebates for
WaterSense labeled products may have information to assess whether
their customers who received rebates are satisfied with their purchase.
However, there may be non-partners who can also provide responsive
information. Specifically, the EPA is requesting information on any
data, surveys, or studies that have assessed consumer satisfaction with
WaterSense labeled or standard products.
Understanding consumer satisfaction is important to the EPA as the
Agency seeks to ensure that our performance criteria review is in fact
ensuring that labelled products are meeting the performance
expectations of the consumer. With this action, the EPA is
[[Page 20274]]
requesting input on ways it could better understand and collect
information on consumer satisfaction with WaterSense labelled products
as the EPA continues to evaluate considerations relating to system
performance, health, and safety. Specifically, the EPA is seeking input
on how it could design a study or studies for use in future reviews
that incorporate customer considerations. For example, we are
interested in input on how we could use a survey or surveys to
determine what type of products consumers would like to see on the
market, the performance attributes that are important to consumer
choice and satisfaction, the range of performance customers are seeking
in those attributes, and what additional features or options related to
efficiency consumers would like to see in WaterSense products. The EPA
is also interested in input on the collection method, frequency, and
source of the information as we seek to balance any burden the
collection would impose on the public with the usefulness the
information would provide the Agency.
Lastly, the EPA seeks input on whether there are specific consumer
satisfaction considerations, test methods, or additional criteria it
should consider adding to the WaterSense guidelines.
Dated: April 7, 2020.
Andrew D. Sawyers,
Director, Office of Wastewater Management.
[FR Doc. 2020-07602 Filed 4-9-20; 8:45 am]
BILLING CODE 6560-50-P