As a homeowner and subsequently utility-paying energy user, I have come to
appreciate the value of energy efficient equipment. Not only does it lessen the
cost of monthly bills, there is a more qualitative value in the fact that I am actively
participating (though on a small scale) in helping to protect and preserve the
environment. Since purchasing my home eight years ago, I have upgraded many
different aspects of my home, replacing non-energy efficient equipment with its
more energy efficient counterpart—ranging from the thermostat, dishwasher,
clothes washer, ceiling fans, and light bulbs, to the windows. Yet to be replaced
with new energy efficient models are both my furnace and my water heater.
As I read through the process involved in amending the current standards for
establishing/evaluating energy efficiency in these types of home heating
equipment, I see a number of implications that may result from this process. I
think the intent behind the action is well-founded. As indicated by the published
material in the Federal Register, some of these standards have seen little change
since 1987 when the NAECA was first enacted. Since then newer technologies
have been invented to bring about greater efficiency, yet only individual states have
taken action to regulate the use of improved standards. I believe the Department
of Energy should be tasked with the responsibility of maintaining these standards
in accord with available technology. Improved Federal standards may assist in
alleviating states from enacting similar standards at a lesser level and may help
create a more uniform platform for consumers and manufacturers across the
nation.
At the same time, I caution the DOE against raising the standards too high,
especially in times of economic uncertainty. The initial monetary cost (purchase
price) of more efficient equipment is certain to increase. Ultimately, the consumer
will bear the cost of this increase. While many utility companies (public and
private) have come of offer monetary incentives (cash rebates) to consumers to
upgrade their present non-efficient equipment. Further, increased purchase price,
without increased incentive may push consumers away from purchasing the newer
technology. If energy efficient equipment is not purchased and instead, the
consumer elects to purchase the cheaper non-efficient model, then the act of
amending the efficiency standards has actually had an adverse affect on the
environment as there is little or no positive change in conserving energy.
For this reason, I think that if the Department of Energy is to consider analyzing
the current standard, and/or proposing new standards, I think that is imperative
that it seeks and obtains approval from the vast stakeholders that will be affected,
from manufacturers, to consumers, to utility companies.
2009-01-30 Public Submission page with comment
This is comment on Proposed Rule
2009-01-08 Energy Conservation Standards for Residential Water Heaters, Direct Heating Equipment, and Pool Heaters: Public Meeting and Availability of the Preliminary Technical Support Document
View Comment
Related Comments
View AllPublic Submission Posted: 06/14/2011 ID: EERE-2006-STD-0129-0047
Mar 16,2009 11:59 PM ET
Public Submission Posted: 06/15/2011 ID: EERE-2006-STD-0129-0054
Mar 16,2009 11:59 PM ET
Public Submission Posted: 06/15/2011 ID: EERE-2006-STD-0129-0055
Mar 16,2009 11:59 PM ET
Public Submission Posted: 06/15/2011 ID: EERE-2006-STD-0129-0057
Mar 16,2009 11:59 PM ET
Public Submission Posted: 06/15/2011 ID: EERE-2006-STD-0129-0058
Mar 16,2009 11:59 PM ET