1 / 14

Barrier Removal Success

Barrier Removal Success. Kristen Taddonio Chair, Global Barrier Removal Team 13 June 2008. Barrier Removal Status. In 2006, EC/US/Japan agreed to remove global barriers to alternative refrigerants’ adoption US EPA Team identified US barriers (indicative):

Leo
Download Presentation

Barrier Removal Success

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Barrier Removal Success Kristen Taddonio Chair, Global Barrier Removal Team 13 June 2008

  2. Barrier Removal Status • In 2006, EC/US/Japan agreed to remove global barriers to alternative refrigerants’ adoption • US EPA Team identified US barriers (indicative): • Department of Transportation accumulator pressure requirements • State bans on toxic & flammable auto A/C refrigerants • Occupational Safety and Health Administration (OSHA) requirements for training, personal protective equipment, safe handling, pressure relief devices, equipment inspection, worker exposure, ventilation, and refrigerant storage - US EPA Significant New Alternative Program and Toxicity Program review

  3. U.S. Department of Transportation Waives Pressure Requirement • “[Air conditioning systems] are an integral component of a motor vehicle and necessary for the operation of the vehicle”… “Based on the information you provided, the air conditioning system…is not subject to the Hazardous Materials Regulation.” –John A. Gale, Chief of Standards Development US Department of Transportation (DoT) Pipeline and Hazardous Materials Safety Administration 11 July 2006

  4. OSHA, EPA, & SAE Cooperation will Satisfy US Health and Safety Requirements • SAE J-Standards in progress: “Recommended practice for servicing CO2, HFC-152a and HFC-1234yf mobile air conditioning systems” • The SAE Standards will meet Occupational Safety and Health Administration (OSHA) requirements for training, personal protective equipment, safe handling, pressure relief devices, equipment inspection, worker exposure, ventilation, and refrigerant storage • SAE standard are critical to compliance with OSHA Health & Safety Requirements

  5. State Barriers Removed, NHTSA Confirms No Additional Barriers Exist • CO2 may be used in all states if safety is demonstrated and SAE standards and recommended practices are followed • Flammable alternatives listed by SNAP acceptable in all but 7 states where work continues • The US National Highway Traffic and Safety Administration (NHTSA) confirmed EPA SNAP listed alternative refrigerants acceptable under existing rules

  6. CO2 Success Depends on SAE

  7. Flammable alternatives • In 2006, 18 states and the District of Columbia had laws that banned flammable refrigerants in MACs • Barriers removed in all but 7 states for HFC-152a, which is now listed by SNAP

  8. Barrier removal HFC-1234yf and HFC-152a

  9. 7 to go

  10. Remaining Challenges • EU has yet to confirm if there are barriers for flammable refrigerants (HFC-1234yf or HFC-152a) • Legislative vote needed to allow EPA SNAP listed flammable refrigerant in the remaining 7 states • EPA SNAP and Office of Prevention, Pesticides and Toxic Substances Review not complete for HFC-1234yf • R744 Final Rule for CO2

  11. Contact For Barrier Removal, contact Kristen Taddonio: taddonio.kristen@epa.gov +1-202-343-9234 www.epa.gov/cppd/mac For SNAP, contact Karen Thundiyil: Thundiyil.Karen@epa.gov +1-202-343-9464

  12. Back-up Slides

  13. States that ban toxic refrigerants

  14. CO2 State Barrier Removal • Approach: • Investigate definitions of toxic in State • When no definition exists, identify state authority responsible for implementing the statute • Inform state authorities of situation, ask if CO2 would be allowed in that state

More Related