PROPOSAL:
Amend Rule 1193 – Clean On-Road Residential and Commercial Waste Collection
Vehicles, and Authorize Execution of Contracts for Emission Testing and
Analysis of Dedicated Natural Gas and Diesel Solid Waste Collection Vehicles.
SYNOPSIS:
Staff is proposing to amend the requirements for dual-fuel heavy-duty
engines used in curbside waste collection vehicles. Rule 1193 currently
provides a sunset date of July 1, 2003 for dual-fuel heavy-duty engines used
to power waste collection vehicles. The proposed amendment is in response to
recent in-use emissions testing of dual-fuel engines compared to dedicated
diesel-fueled engines. Staff also proposes executing a contract with West
Virginia University for emission testing of natural gas and diesel solid waste
collection vehicles in an amount not to exceed $260,000, and with Engine,
Fuels and Emissions Engineering for prescreening, transportation and analysis
of natural gas and diesel solid waste collection vehicles in an amount not to
exceed $50,000.
COMMITTEE:
Mobile Source, April 25, 2003, Reviewed
RECOMMENDED ACTION:
- Adopt the attached resolution:
a) Certifying the Notice of Exemption (NOE)
completed in compliance
with CEQA (California Public
Resources Code Section 21000 et.
seq.); and
b) Amending Rule 1193-Clean On-Road Residential
and Commercial
Waste Collection Vehicles.
- Authorize the Executive Officer to execute a contract with West Virginia
University for emission testing of heavy-duty dedicated natural gas and new
diesel solid waste collection vehicles for an amount not to exceed $260,000
from the Clean Fuels Fund (Fund 31).
- Authorize the Executive Officer to execute a contract with Engine, Fuels
and Emissions Engineering for prescreening, transporting, and analysis of
heavy-duty dedicated natural gas and new diesel solid waste collection
vehicles for an amount not to exceed $50,000 from the Clean Fuels Fund (Fund
31).
Barry R. Wallerstein, D.Env.
Executive Officer
Background
Rule 1193 applies to public and private operators of fleets of 15 or more
heavy-duty refuse collection vehicles. Heavy-duty refuse collection vehicles
include solid waste collection (or curb-side collection) vehicles, transfer
vehicles, and roll-off vehicles. Rule 1193 purchase requirements are now
completely phased in, incorporating two implementation dates. As originally
adopted, the first implementation date was July 1, 2001 and required refuse
truck fleet operators that operate a fleet of 15 or more transfer and roll-off
vehicles, or 50 or more solid waste collection vehicles, to purchase or lease
alternative-fuel or dual-fuel heavy-duty vehicles when adding or replacing these
vehicles. Dual-fuel engine technology utilizes an alternative fuel (typically
natural gas) with a small amount of diesel fuel to initiate compression
ignition. The second implementation date was July 1, 2002, requiring refuse
truck fleet operators of 15 or more combined solid waste collection vehicles,
roll-off vehicles, or transfer vehicles to purchase or lease alternative-fuel or
dual-fuel refuse vehicles when adding to an existing fleet or forming a new
fleet. The rule as adopted by the Board in June 2000 contained a sunset date of
July 1, 2002 for allowing the purchase of dual-fuel solid waste collection
vehicles as a compliance option.
On June 7, 2002, the Board considered amendments to Rule 1193 to address
concerns regarding the potential emission benefits of dual-fuel-powered solid
waste collection vehicles, as well as the potential need to continue allowing
the purchase of dual-fuel-powered solid waste collection vehicles as a
compliance option, based on input provided by various refuse truck fleet
operators. To address both of these concerns, the Board amended Rule 1193 to
extend the sunset date for the purchase or lease of dual-fuel-powered solid
waste collection vehicles to July 1, 2003, as well as extended the date of the
associated exemption language to July 1, 2004 if the fleet operation retrofits
all existing 1995 and newer vehicles. The Governing Board, as part of the June
7, 2002 amendment, also directed staff to collect and evaluate in-use emission
data relative to dual-fuel engine applications in curbside collection vehicles
and compare this information with curbside collection vehicles operating
entirely on diesel fuel and curb-side collection vehicles operating entirely on
an alternative fuel, within a ten-month time frame.
The in-use emissions study (see Attachment E - Draft Staff Report) was
accomplished by procuring comparable solid waste collection vehicles equipped
with diesel, dedicated natural gas, and dual-fuel engines, and subjecting these
vehicles to chassis dynamometer emission testing using duty cycles that reflect
real-world operating conditions. The in-use study produced unusually high NOx
emissions data for the dedicated natural gas refuse vehicles, inconsistent with
emission values generated by CARB engine certification data for the engines
powering these vehicles. It was subsequently determined that the high NOx
emissions were caused by faulty turbochargers; specifically, the turbocharger
wastegate was not performing properly. It was subsequently determined that the
turbocharger and housing needed to be replaced.
Relative to the in-use emissions testing of dual fuel engines compared to
their diesel counterparts, staff found that the dual fuel engines have about a
20 percent reduction in nitrogen oxide emissions compared to the diesel engines.
However, based on the dual fuel engine certification data, dual fuel engines are
expected to have about a 35 percent reduction in nitrogen oxide emissions.
Proposal
In response to the in-use testing results, staff proposes an amendment to
Rule 1193 to extend the sunset date (and corresponding exemption provision
sunset date) by one year for the purchase or lease of dual-fuel-powered solid
waste collection vehicles as a compliance option. This extension would allow the
purchase of dual fuel engines that are cleaner than their diesel counterparts.
In addition, this extension will allow time for staff to emission test properly
functioning dedicated natural gas-powered refuse vehicles. Upon Board approval,
staff will initiate additional emissions testing of these refuse vehicles, with
the intent to generate sufficient data to confirm whether the emissions
performance of dedicated natural gas- and dual-fuel-powered solid waste
collection vehicles are equivalent. This confirmation is necessary to address
the dual-fuel refuse vehicle sunset date provisions in Rule 1193.
In recognition of a clean alternative fuel engine technology that was
initially certified for the 2000 model year, though not yet commercially
available in large numbers, staff also proposes to include pilot ignition
heavy-duty (PIHD) vehicles (and a corresponding definition of PIHD vehicles) as
an additional compliance option for the purchase of solid waste collection
vehicles, rolloff vehicles, and transfer trucks. PIHD technology is a dual-fuel,
diesel compression ignition technology that restricts the amount of diesel use
to a maximum of 10 percent of the total fuel used on an energy equivalent basis.
In addition, the pilot ignition technology does not rely on diesel fuel during
idling. This is directionally an improvement over commercially available
dual-fuel engines that may consume a significantly greater percentage of diesel
fuel. A PIHD engine is presently undergoing certification review by CARB
(according to the manufacturer for the 2003 model year) and is included as a
compliance option in CARB’s adopted Public Transit Bus Fleet Rule and CARB’s
proposed Diesel Particulate Matter Control Measure for On-Road Heavy-Duty
Diesel-Fueled Residential and Commercial Solid Waste Collection Vehicles.
Public Process
One public consultation meeting was held on April 22, 2003. Representatives
of natural gas engine and component manufacturers, fuel suppliers, and fleet
operators primarily attended the meeting. Most meeting participants supported
the proposed rule amendment to extend the sunset date by one year for
dual-fuel-powered solid waste collection vehicles as a compliance option, as
well as the addition of pilot ignition heavy-duty Vehicles as another compliance
option. In addition, meeting participants supported the proposal to conduct
additional in-use emission testing of solid waste collection vehicles, provided
that the latest "clean diesel" technology was included in this emission testing.
Finally, various fleet representatives noted operational problems with dual-fuel
and dedicated alternative-fuel refuse vehicles.
Emission Reductions
At this time staff estimates that PAR 1193 would not have a significant
impact on the air quality benefits of the rule as estimated in the June 2000
Staff Report on the adoption of Rule 1193. Staff anticipates that the emissions
performance of dual-fuel engines in solid waste vehicle applications would be
comparable to dedicated alternative fuel engines based on engine certification
data. However, until the appropriate in-use emissions testing of dedicated
alternative fuel vehicles is performed, staff is not in the position to
recommend removal of the sunset provision in Rule 1193. In addition, with the
introduction of pilot ignition heavy-duty vehicle technology as a rule compliant
option, staff believes that affected fleet operators will have a greater choice
of rule compliant vehicles, enhancing the air quality benefits of Rule 1193.
California Environmental Quality Act (CEQA)
The AQMD has reviewed the proposed project pursuant to state CEQA Guidelines
§15002(k)(1). Since the project is an action taken by a regulatory agency to
assure the enhancement of the environment and will not result in a degradation
to the environment, the proposal is exempt from CEQA pursuant to CEQA Guidelines
§15308 – Actions by Regulatory Agencies for the Protection of the Environment. A
Notice of Exemption, in accordance with CEQA Guidelines §15062, will be prepared
for the proposed project and will be filed with the county clerks immediately
following the adoption of the proposed amendments to the rule.
Socioeconomic Assessment
The proposed amendment to extend the sunset date on dual-fuel heavy-duty
vehicles would provide greater choices of rule compliant vehicles to affected
fleet operators. The cost of a dual fuel engine equipped with a particulate trap
is less than the cost of dedicated alternative fueled engines at this time. The
proposed amendment would also serve as a "bridge" to pilot ignition technologies
that are anticipated to be commercially available in the near future. Since the
pilot ignition technology is not currently commercially available, staff assumes
that the cost of the pilot ignition engines would be similar to other dedicated
alternative fuel engines. In conclusion, since on average the cost of dual-fuel
technology with particulate traps is less than the cost of alternative-fueled
technology, the proposed amendments are expected to result in savings to owners
or operators of refuse collection vehicles.
Proposed Emission Testing and Prescreening of Heavy-Duty Vehicles
Staff proposes to contract with West Virginia University (WVU) to conduct the
in-use emissions evaluation of at least 10 solid waste collection vehicles from
existing fleets operating with the latest dedicated natural gas and certified
clean diesel technologies. Emission testing will be conducted using WVU’s
Transportable Heavy-Duty Vehicle Emissions Laboratory located in Riverside and
will use the test cycle that most accurately simulates heavy-duty refuse
collection vehicle operation. The cost estimate of emissions testing is not to
exceed $260,000 and will be funded through the Clean Fuels Program.
In addition, staff proposes to contract with Engines, Fuels and Emissions
Engineering (EF&EE) to perform vehicle prescreening and vehicle transportation
operations. The test vehicles will be loaned to the AQMD by various existing
fleets subject to Rule 1193 and transported to the testing site by the
contractor. Prior to selecting a test vehicle, the contractor, a technical
representative from the original equipment manufacturer (OEM), and AQMD staff
will perform prescreening analyses to ensure each vehicle is operating in
accordance with OEM specifications. The cost of prescreening and transportation
is estimated not to exceed $50,000 and will be funded through the Clean Fuels
Program.
Sole Source Justification
Section VIII.B.2. of the Procurement Policy and Procedure identifies four
major provisions under which a sole source award may be justified. This request
for this sole source award is made under provision B.2.d.: Other circumstances
exist which in the determination of the Executive Officer require such waiver in
the best interest of the AQMD. Specifically, clause B.2.d.(8): Research and
development efforts with educational institutions, or nonprofit organizations;
and B.2.d.(4): Level-of-effort expert consultation services.
There are two organizations that have the capability of conducting chassis
dynamometer emissions testing in the South Coast Air Basin, the Los Angeles
County Metropolitan Transportation Authority (MTA) facility operated by CARB and
the West Virginia University facility located in Riverside, CA. Other facilities
outside of the South Coast Air Basin capable of conducting such testing are
located in northern California and various locations nationally. However, the
cost to have vehicles selected from the refuse fleets operating in the South
Coast Air Basin would incur more expenses. Staff proposes to utilize both
facilities located in the South Coast Basin as part of the in-use emissions
testing. Staff is in discussions with CARB staff to schedule time at the MTA
facility. The MTA facility testing will be limited to a subset of the total
vehicles tested. The MTA facility testing will provide information on the
variability of testing vehicles using different testing equipment.
The proposed project will be conducted by West Virginia University, an
educational institution, utilizing their Transportable Heavy-Duty Vehicle
Emissions Laboratory. This laboratory is presently located in Riverside at the
Ralph’s Grocery Distribution Center. Vehicle screening and transportation will
be performed by Engine, Fuels and Emissions Engineering (EF&EE). EF&EE is
uniquely qualified having vast experience with natural-gas heavy-duty vehicles
throughout the world and possessing a unique portable emission analyzer system
capable of measuring mass emissions on operating vehicles. The portable emission
analyzer equipment and methodology system is known as RAVEM (Ride-Along Vehicle
Emission system) and is validated with a heavy-duty chassis dynamometer. The
prescreening process will help in the selection of vehicles that will be tested
by WVU, and determine if potential test refuse trucks are operating in
accordance with engine manufacturer specifications.
Resource Impacts
The total AQMD cost for the emission testing by WVU and EF&EE will not exceed
$310,000.
The Clean Fuels Program, under Health and Safety Code Sections 40448.5 and
40512 and Vehicle Code Section 9250.11, establishes mechanisms to collect
revenues from mobile sources to support projects to increase the utilization of
clean fuels, including the development of the necessary advanced enabling
technologies. Funds collected from motor vehicles are restricted, by statute, to
be used for projects and program activities related to mobile sources that
support the objectives of the Clean Fuels Program.
Recommendation
Staff recommends that the proposed amendment to Rule 1193 be adopted. The
proposed rule amendments will increase compliance flexibility and result in
potential cost savings to fleets. In addition, staff recommends that the
Executive Officer be authorized to execute an agreement with West Virginia
University for emission testing of heavy-duty dedicated natural gas and clean
diesel solid waste collection vehicles for an amount not to exceed $310,000 from
the Clean Fuels Fund (Fund 31).
Attachments
- Summary of PAR 1193 Proposal
- Rule Development Process
- Resolution
- Proposed Amendments to Rule 1193
- Draft Staff Report on PAR 1193
- Notice of Exemption
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