Office of Energy Efficiency and Renewable Energy April 15, 2016 – Federal Register Recent Federal Regulation Documents
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Notice of Petition for Waiver From Cleaver-Brooks From the Department of Energy Commercial Packaged Boiler Test Procedure
This notice announces receipt of a petition for waiver from Cleaver-Brooks seeking an exemption from specified portions of the U.S. Department of Energy (DOE) test procedure applicable to commercial packaged boilers. Cleaver-Brooks contends that some of their commercial packaged boilers cannot be accurately tested using the currently applicable DOE test procedure and, as a result, seeks to use an alternate test procedure to test these basic models. DOE solicits comments, data, and information concerning Cleaver-Brooks' petition and the suggested alternate test procedure.
Notice of Petition for Waiver From York-Shipley Global, Division of AESYS Technologies, LLC From the Department of Energy Commercial Packaged Boiler Test Procedure
This notice announces receipt of a petition for waiver from York-Shipley Global, Division of AESYS Technologies, LLC (York-Shipley) seeking an exemption from specified portions of the U.S. Department of Energy (DOE) test procedure applicable to commercial packaged boilers. York-Shipley contends that some of their commercial packaged boilers cannot be accurately tested using the currently applicable DOE test procedure and, as a result, seeks to use an alternate test procedure to test these basic models. DOE solicits comments, data, and information concerning York-Shipley's petition and the suggested alternate test procedure.
Notice of Petition for Waiver From Superior Boiler Works, Inc. From the Department of Energy Commercial Packaged Boiler Test Procedure
This notice announces receipt of a petition for waiver from Superior Boiler Works, Inc. (Superior) seeking an exemption from specified portions of the U.S. Department of Energy (DOE) test procedure applicable to commercial packaged boilers. Superior contends that some of their commercial packaged boilers cannot be accurately tested using the currently applicable DOE test procedure and, as a result, seeks to use an alternate test procedure to test these basic models. DOE solicits comments, data, and information concerning Superior's petition and the suggested alternate test procedure.
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