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APGA joined industry letter to Senators in support of language in S. 2012, the Energy Policy Modernization Act

January 21, 2016 Dear Senator, We write today with an urgent request for your continued support of language in S. 2012, the Energy Policy Modernization Act, to review the Department of Energy’s (DOE) rulemaking on efficiency standards for residential non-weatherized gas furnaces...

Senate Energy Bill Furnace Provision Support letter January 21 2016.pdf


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APGA Opposition to Beyer Amendment Section 4115 of H.R. 8

December 2, 2015 Dear Representative, We write to urge you to oppose the Beyer amendment that would strike part of section 4116 of H.R. 8. The provisions in Secs. 4115 and 4116 of H.R. 8 would repeal a part of Section 433 of the Energy Independence and Security Act of 2007 that...

Oppose the Beyer Amendment Letter 12.2.2015.pdf


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November 6, 2015 - APGA Comments on DOE NODA

BEFORE THE OFFICE OF ENERGY EFFICIENCY AND RENEWABLE ENERGY UNITED STATES DEPARTMENT OF ENERGY WASHINGTON, D.C. Docket Number EERE-2014-BT-STD-0031/ RIN NO. 1904-AD20 SUPPLEMENTAL COMMENTS OF THE AMERICAN PUBLIC GAS ASSOCIATION ON THE NOTICE OF DATA AVAILABILITY November 6, 2015 The...

APGA Supplemental NODA Comments & Letter to Secretary Moniz Regarding NODA Extension.pdf


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July 10, 2015- APGA files comments in response to Department of Energy's Notice of Proposed Rulemaking on natural gas furnaces

APGA filed comments in response to the Department of Energy’s (DOE) Notice of Proposed Rulemaking (NOPR) that proposes a new nationwide standard of 92% annual fuel utilization efficiency (AFUE) for natural gas furnaces. The end result of this NOPR is a ban on the sale of non-condensing furnaces...

Final 071015 APGA Comments-c.pdf


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Analysis Shows Flaws in DOE Justification for Furnace NOPR

Washington, D.C. (June 11, 2015) –The American Public Gas Association (APGA) has been working with the Gas Technology Institute—an independent technology organization—to conduct a thorough review of the Technical Support Document and the modeling that the Department of Energy (DOE) has used...

6 11 15 GTI Study.pdf


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APGA Supports Blackburn Amendment

Washington D.C. (April 30, 2015) – This morning, the American Public Gas Association (APGA) along with the American Gas Association (AGA) and several other associations sent a letter to all House members in support of Representative Blackburn’s (R-Tenn.) amendment to the fiscal year 2016 Energy...

APGA Supports Blackburn Amendment.pdf


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APGA Files Comments in Response to DOE Proposed Natural Gas Furnace Efficiency Standard

Washington D.C. (July 10, 2015) –Today, APGA filed comments in response to the Department of Energy’s (DOE) Notice of Proposed Rulemaking (NOPR) that proposes a new nationwide 92% efficiency standard for natural gas furnaces. Since the 92% standard can only be met by condensing furnaces, the...

Press Release on APGA_s Furnace Comments July 2015-Revised (1).docx


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DOE Proposed Natural Gas Furnace Efficiency Standard Harms Natural Gas Consumers and Undermines Efficiency

Washington D.C. (March 12, 2015) –The Department of Energy’s (DOE) Notice of Proposed Rulemaking (NOPR) released in today’s Federal Register proposes a new natural gas furnace efficiency standard that will have an adverse impact on millions of Americans who currently use natural gas to heat...

DOENatGas.pdf


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New DOE Furnace Efficiency Standard Ultimately Reduces Efficiency

Washington D.C. (February 11, 2015) –The Department of Energy (DOE) has released a new natural gas efficiency standard that will have an adverse impact on millions of Americans who currently use natural gas to heat their homes. Last year, as a result of a petition filed by the American Public...

2 11 15 Furnace Rule Press Release.pdf