[Federal Register Volume 81, Number 73 (Friday, April 15, 2016)]
[Notices]
[Pages 22255-22258]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2016-08749]
-----------------------------------------------------------------------
DEPARTMENT OF ENERGY
Office of Energy Efficiency and Renewable Energy
[Case No. BLR-005]
Notice of Petition for Waiver From York-Shipley Global, Division
of AESYS Technologies, LLC From the Department of Energy Commercial
Packaged Boiler Test Procedure
AGENCY: Office of Energy Efficiency and Renewable Energy, Department of
Energy.
ACTION: Notice of petition for waiver and request for public comments.
-----------------------------------------------------------------------
SUMMARY: 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.
DATES: DOE will accept comments, data, and information with respect to
the York-Shipley petition until May 16, 2016.
ADDRESSES: You may submit comments, identified by case number ``BLR-
005,'' by any of the following methods:
Federal eRulemaking Portal: http://www.regulations.gov.
Follow the instructions for submitting comments.
Email: [email protected]. Include the case
number [Case No. BLR-005] in the subject line of the message.
Mail: Ms. Brenda Edwards, U.S. Department of Energy,
Building Technologies Program, Mailstop EE-2B, 1000 Independence Avenue
SW., Washington, DC 20585-0121. Telephone: (202) 586-2945. Please
submit one signed original paper copy.
Hand Delivery/Courier: Ms. Brenda Edwards, U.S. Department
of Energy, Building Technologies Program, 950 L'Enfant Plaza SW., Suite
600, Washington, DC 20024. Please submit one signed original paper
copy.
[[Page 22256]]
Docket: For access to the docket to review the background documents
relevant to this matter, you may visit http://www.regulations.gov.
Available documents include the following items: (1) This notice; (2)
public comments received; and (3) the petition for waiver.
FOR FURTHER INFORMATION CONTACT:
Mr. Bryan Berringer, U.S. Department of Energy, Building
Technologies Program, Mail Stop EE-5B, Forrestal Building, 1000
Independence Avenue SW., Washington, DC 20585-0121. Telephone: (202)
586-0371. Email: [email protected].
Mr. Peter Cochran, U.S. Department of Energy, Office of the General
Counsel, Mail Stop GC-33, Forrestal Building, 1000 Independence Avenue
SW., Washington, DC 20585-0103. Telephone: (202) 586-9496. Email:
[email protected].
SUPPLEMENTARY INFORMATION: In a petition received July 21, 2015, York-
Shipley requested that the U.S. Department of Energy (``DOE'') grant a
waiver to certain models of larger commercial package boilers that
cannot be tested under the existing DOE test procedure. The models of
commercial packaged boilers at issue are models with higher input
capacities that typically require higher steam pressure and alternative
instrumentation due to the large quantities of fluids being measured.
I. Background and Authority
Title III, Part C of the Energy Policy and Conservation Act of 1975
(EPCA), as amended (42 U.S.C. 6311 et seq.), established the Energy
Conservation Program for certain industrial equipment, which includes
commercial packaged boilers.\1\ Part C specifically includes
definitions (42 U.S.C. 6311), energy conservation standards (42 U.S.C
6313), test procedures (42 U.S.C. 6314), labeling provisions (42 U.S.C.
6315), and the authority to require information and reports from
manufacturers (42 U.S.C. 6316). Part C authorizes the Secretary of
Energy (the Secretary) to prescribe test procedures that are reasonably
designed to produce results that measure energy efficiency, energy use,
and estimated annual operating costs, and that are not unduly
burdensome to conduct. (42 U.S.C. 6314(a)(2)) With respect to
commercial packaged boilers, Part C requires DOE to use industry test
procedures developed or recognized by the Air-Conditioning, Heating,
and Refrigeration Institute (AHRI) or the American Society of Heating,
Refrigerating, and Air-Conditioning Engineers (ASHRAE), as referenced
in ASHRAE/IES \2\ Standard 90.1, ``Energy Standard for Buildings Except
Low-Rise Residential Buildings.'' (42 U.S.C. 6314(a)(4)(A)) Further, if
such an industry test procedure is amended, DOE is required to amend
its test procedure to be consistent with the amended industry test
procedure, unless it determines, by rule published in the Federal
Register and supported by clear and convincing evidence, that the
amended test procedure would be unduly burdensome to conduct or would
not produce test results that reflect the energy efficiency, energy
use, and estimated operating costs of that equipment during a
representative average use cycle. (42 U.S.C. 6314(a)(4)(B)). The test
procedure for commercial packaged boilers is contained in 10 CFR part
431, subpart E.
---------------------------------------------------------------------------
\1\ For editorial reasons, upon codification in the U.S. Code,
Part C was re-designated Part A-1.
\2\ Illuminating Engineering Society.
---------------------------------------------------------------------------
DOE's regulations permit a person to seek a waiver from the test
procedure requirements for covered commercial equipment if at least one
of the following conditions is met: (1) The petitioner's basic model
contains one or more design characteristics that prevent testing
according to the prescribed test procedures; or (2) the prescribed test
procedures may evaluate the basic model in a manner so unrepresentative
of its true energy consumption as to provide materially inaccurate
comparative data. 10 CFR 431.401(a)(1). Petitioners must include in
their petition any alternate test procedures known to the petitioner to
evaluate the basic model in a manner representative of its energy
consumption. 10 CFR 431.401(b)(1)(iii).
DOE may grant a waiver subject to conditions, including adherence
to alternate test procedures. 10 CFR 431.401(f)(2). As soon as
practicable after the granting of any waiver, DOE will publish in the
Federal Register a notice of proposed rulemaking to amend its
regulations so as to eliminate any need for the continuation of such
waiver. As soon thereafter as practicable, DOE will publish in the
Federal Register a final rule. 10 CFR 431.401(l).
II. Petition for Waiver of Test Procedure
On July 21, 2015, York-Shipley submitted a petition for waiver from
the DOE test procedure for certain basic models of its commercial
packaged boilers. The DOE test procedure for commercial packaged
boilers is set forth at 10 CFR 431.86 and incorporates by reference
Hydronics Institute (HI) BTS-2000, ``Method to Determine Efficiency of
Commercial Space Heating Boilers'' (BTS-2000).
According to York-Shipley, there are several issues that make BTS-
2000 incompatible with larger commercial packaged boilers, including
those identified in its petition for waiver. York-Shipley stated that
the requirements to use test conditions specified in BTS-2000 and the
instrumentation requirements are outdated. Specifically, York-Shipley
indicated the following regarding the test conditions:
The 0 to 2 psig test pressure for steam boilers may be
adequate for residential and small commercial (cast iron) boilers sized
[commercial packaged] boilers, however such steam pressures are not
compatible with large [commercial packaged] boilers as it will cause
water carryover in large quantities, and an inability to meet design
water flow rates and firing rates;
Typically test steam pressures in the range of 10 to 12
psig are required; and
Test temperatures defined for hot water [commercial
packaged] boilers cause thermal shock problems in large [commercial
packaged] boilers.
York-Shipley also indicated the following regarding the
instrumentation chart in Table 1 of section 6.0, ``Instruments,'' of
BTS-2000:
Steam pressure cannot be measured by mercury manometer as
the use of mercury in instruments and controls is banned; the correct
instrument is a Bourdon Tube Gauge for pressures of 0 to 30 psig;
Large boilers typically fire into a positive pressure
combustion chamber, thus gas pressure, firebox pressure and vent/flue
pressure instruments all need to reflect this;
The use of scales to measure water/condensate/moisture
flow rates is incompatible with the volume of these fluids being used
or generated by large [commercial packaged] boilers;
Water flow meters should be used and in the case of
moisture content, current practice is to use a throttling calorimeter;
The measurement of carbon dioxide as a means of
calculating excess air or oxygen is considered obsolete in the large
[commercial packaged] boiler industry; direct measurement of excess
oxygen is the preferred method as modern oxygen meters can easily be
calibrated against the oxygen in the ambient air;
Carbon Monoxide levels are no longer measured as a
percentage; the current preferred unit is parts per million (ppm).
[[Page 22257]]
To address these concerns, York-Shipley proposes to use the newly
published American National Standards Institute (ANSI)/Air-
Conditioning, Heating, and Refrigeration Institute (AHRI) 1500-2015,
``Standard for Performance Rating of Commercial Space Heating Boilers''
(ANSI/AHRI Standard 1500-2015) in place of BTS-2000. AHRI developed
ANSI/AHRI Standard 1500-2015 as a replacement for BTS-2000 in order to
make the test procedure suitable for use with larger commercial
packaged boilers, as well as improve and clarify the test method. York-
Shipley claims that use of this ANSI/AHRI Standard 1500-2015 is
necessary as it is compatible with the size of commercial packaged
boilers they manufacture.
Additionally, for the large commercial packaged boilers capable of
supplying either steam or hot water identified in this petition, York-
Shipley requests that, when determining the combustion efficiency in
hot water mode based on testing in steam mode only, the combustion
efficiency rating be determined based on an adjusted combustion
efficiency. York-Shipley requests that an adjustment be made to the
measured stack temperature to be used in calculating combustion
efficiency based on the relative difference between the flue gas
temperature and the bulk fluid temperature when operating in steam mode
as opposed to hot water using the following relationship:
Tstack, hw = (Tstack, steam - Tsat) +
Tbulk, hw
where Tstack, hw is the stack temperature to be used to
determine the combustion efficiency in hot water mode,
Tstack, steam is the measured stack temperature when testing
on steam, Tsat is the saturation temperature of steam at the
test pressure, and Tbulk, hw is the temperature of the
outlet water when testing in hot water mode and is equal to 180 [deg]F.
According to York-Shipley, using this adjusted stack temperature to
calculate combustion efficiency is a more accurate representation of
the actual efficiency when operating as a hot water commercial packaged
boiler than simply using combustion efficiency value for steam mode.
The following basic models are included in York-Shipley's petition:
York-Shipley Global--Series 400C and 500C
--Centerline Furnace--Dryback Configuration--ASME SCIV
York-Shipley Global--Series 400L and 500L
--Low-Offset Furnace--Waterback Configuration--ASME SCIV.
DOE notes that it has published a notice of proposed rulemaking
(March 2016 CPB TP NOPR) to amend its test procedure for commercial
packaged boilers prescribed in 10 CFR part 431 subpart E. 81 FR 14641
(Mar. 17, 2016). The proposed amended test procedure addresses, among
other changes, the issues raised in this waiver request by
incorporating by reference ANSI/AHRI Standard 1500-2015 as a
replacement for BTS-2000 in the DOE test procedure for commercial
packaged boilers. In addition to adopting ANSI/AHRI Standard 1500-2015
as a replacement for BTS-2000, DOE further proposes several
modifications to its test procedure that are not captured in ANSI/AHRI
Standard 1500-2015 in order to improve repeatability, add
clarification, and accommodate testing of some equipment that has
experienced difficulty in testing to the existing DOE test procedure.
Among these changes, DOE proposes to adopt the stack temperature
adjustment described by York-Shipley when using the tested combustion
efficiency of large steam commercial packaged boilers to represent the
combustion efficiency of large commercial packaged boilers in hot water
mode.
III. Summary and Request for Comments
Through this notice, DOE is publishing York-Shipley's petition for
waiver pursuant to 10 CFR 431.401(b)(1)(iv). The petition contains no
confidential information. The petition includes a suggested alternate
test procedure applicable to measurement of energy efficiency of
certain models of commercial packaged boilers manufactured by York-
Shipley.
DOE solicits comments from interested parties on all aspects of the
petition, including the suggested alternate test procedure. Pursuant to
10 CFR 431.401(d), any person submitting written comments to DOE must
also send a copy of such comments to the petitioner. The contact
information for the petitioner is: Kevin J. Hoey, President & CEO,
York-Shipley Global, Division of AESYS Technologies, LLC, 693 North
Hills Road, York, PA 17402-2211. All submissions received must include
the agency name and case number for this proceeding. Submit electronic
comments in WordPerfect, Microsoft Word, Portable Document Format
(PDF), or text (American Standard Code for Information Interchange
(ASCII)) file format and avoid the use of special characters or any
form of encryption. Wherever possible, include the electronic signature
of the author. DOE does not accept telefacsimiles (faxes).
According to 10 CFR 1004.11, any person submitting information that
he or she believes to be confidential and exempt by law from public
disclosure should submit two copies: One copy of the document including
all the information believed to be confidential, and one copy of the
document with the information believed to be confidential deleted. DOE
will make its own determination about the confidential status of the
information and treat it according to its determination.
Issued in Washington, DC, on April 7, 2016.
Kathleen B. Hogan,
Deputy Assistant Secretary for Energy Efficiency, Energy Efficiency and
Renewable Energy.
York-Shipley Global
Division of AESYS Technologies, LLC
693 North Hills Road
York, PA 17402-2211
July 21, 2015
U.S. DEPARTMENT OF ENERGY
ATTN: Ms. Ashley Armstrong
RE: US-DOE--Waiver Request
Efficiency Rating of Commercial Packaged Space Heating Boilers
Dear Ms. Armstrong,
In accordance with the provisions of the Code of Federal
Regulations Part 431, paragraph 431.401, York-Shipley Global--Division
of AESYS Technologies, LLC is hereby petitioning for a waiver from the
following test procedures specified for Commercial Packaged Space
Heating Boilers:
A. Paragraph 431.86 Uniform test method for the measurement of
energy efficiency of commercial packaged boilers. This section requires
the boilers be tested using the provisions of HI BTS-2000. We propose
to use the newly published ANSI/AHRI 1500-2015, 2015 Standard for
Performance Rating of Commercial Space Heating Boilers. There are
several issues that make BTS 2000 incompatible with the larger boilers
that were identified in previous waiver requests. AHRI has worked
diligently over the past year to revise BTS-2000 in order to address
those issues and make BTS-2000 suitable for use with larger boilers.
ANSI/AHRI Standard 1500-2015 is the result of that work. Use of this
new standard is required as it is compatible with the size boilers we
manufacture.
B. Paragraph 431.86(c)(1)(iv) The requirement to use test
conditions specified in BTS-2000 specifically the requirements for the
test pressure for steam boilers, the required water temperatures for
hot water boilers and instrumentation requirements seem to
[[Page 22258]]
refer back to the middle of the last century rather than the present
day, for example:
1. The 0 to 2 psig test pressure for steam boilers may be perfectly
adequate for residential and small commercial (cast iron) boilers sized
boilers, however is not compatible with large boilers as it will cause
water carryover in large quantities, and an inability to meet design
water flow rates and firing rates. Typically test pressures in range 10
to 12 psig are required.
2. Test temperatures defined for hot water boilers are guaranteed
to cause thermal shock problems in large boilers.
3. The instrumentation chart, Table 1, has several problem areas,
as follows:
a. Steam pressure cannot be measured by mercury manometer as the
use of mercury in instruments and controls is banned. The correct
instrument is a Bourdon Tube Gauge 0 to 30 psig
b. Large boilers typically fire into a positive pressure combustion
chamber, thus gas pressure, firebox pressure and vent/flue pressure
instruments all need to reflect this.
c. The use of scales to measure water/condensate/moisture flow
rates is incompatible with the sheer volume of these fluids being used
or generated by large boilers. Water flow meters should be used and in
the case of moisture content, current practice is to use a throttling
calorimeter.
d. The measurement of carbon dioxide as a means of calculating
excess air or oxygen is considered obsolete in the large boiler
industry. Direct measurement of excess oxygen is the preferred method
as modern oxygen meters can easily be calibrated against the oxygen in
the ambient air.
e. Carbon Monoxide levels are no longer measured as a percentage.
The current preferred unit is ppm.
ANSI/AHRI 1500-2015 has taken into account these changes.
C. Paragraph 431.86(c)(2)(iii)(B) Rating. This paragraph specifies
that for boilers capable of supplying either steam or hot water, that
they are tested on steam only, the hot water efficiency shall be based
on the testing in the steam mode. We propose to use an adjusted steam
efficiency for hot water when testing on steam only. The adjustment is
made to the measured stack temperature to be used in calculating
efficiency based on the relative difference between the flue gas
temperature and the bulk fluid temperature, when operating on steam
versus hot water, using the following relationship:
Tstackhw = (Tstacksteam-Tsat) + Tbulkhw
Where:
Tstackhw = Stack temperature to be used to determine the efficiency on
hot water
Tstacksteam = Measured stack temperature when testing on steam
Tsat = Saturation temperature of steam at the test pressure
Tbulkhw = 180 [deg]F
The dominant heat transfer variable for both steam and hot water
boilers is the gas side coefficient and there is very little difference
in the overall heat transfer coefficient between steam and hot water
boilers. It is possible therefore to determine what a hot water boiler
stack temperature will be, based on a steam test and the bulk fluid
temperature difference within the boiler. We believe that using this
adjusted stack temperature to calculate efficiency is a more accurate
representation of the actual efficiency when operating as a hot water
boiler than simply using the steam efficiency value.
The basic York-Shipley Global--Division of AESYS Technologies, LLC
model series for which this request is applicable to, are as follows:
York-Shipley Global--Series 400C and 500C
-- Centerline Furnace--Dryback Configuration--ASME SCIV
York-Shipley Global--Series 400L and 500L
-- Low-Offset Furnace--Waterback Configuration--ASME SCIV
Other known Manufacturers of similar products are listed below.
These manufacturers will be notified by York-Shipley Global--Division
of AESYS Technologies, LLC of this waiver, if and when the deviation is
granted, in accordance with paragraph 431.401(c).
Bryan Steam
Burnham Commercial
Cleaver Brooks
Easco
Fulton Boiler Works
Hurst
Johnston Boiler Company
Lattner Boiler Company
Miura
Precision Boilers LLC
Superior Boiler Works
Unilux
Vapor Power International LLC
Victory Energy Operations LLC
Williams & Davis
We kindly request your consideration for this waiver. If there are
any further comments or concerns, please feel free to call.
Sincerely,
York-Shipley Global
Division of AESYS Technologies, LLC
Kevin J. Hoey
President & CEO
cc. File (15-0721 AESYS US-DOE Waiver Request R2)
S. Lynch--ABMA
[FR Doc. 2016-08749 Filed 4-14-16; 8:45 am]
BILLING CODE 6450-01-P