Month: September 2023

Hypocrite Khan’s Airmiles

From NOT A LOT OF PEOPLE KNOW THAT

By Paul Homewood

h/t Ian Magness

Sadiq Khan, his deputies and officials have racked up more than 430,000 air miles since he was first elected London Mayor in 2016, analysis shows.

The Labour politician, who has positioned himself as a champion of environmental causes, attracted condemnation yesterday as he flew to the US for a climate summit.

He is expected to use the trip to promote his Ultra Low Emission Zone (Ulez), which he claims will reduce deaths caused by air pollution, after expanding the scheme last month.

He flew to New York with five aides to attend the UN General Assembly and take part in the Climate Ambition Summit and is also due to appear alongside Prince William at the Earthshot Prize Innovation Summit.

Mr Khan is flying despite repeatedly saying he wants to clean up the air, and analysis shows his latest trip has sent the number of air miles clocked up by him and his team to 430,000.

That is enough to fly around the world 17 times and is estimated to have pumped out 200 tons of carbon into the atmosphere.

The latest New York trip alone will account for 41,412 of the air miles total, when all six attendees and both legs of the journey are taken into account.

It comes after Mr Khan’s ‘Night Tsar’ Amy Lame – tasked with helping London’s nighttime economy thrive – jetted off to Sydney, adding a further 21,146 miles to the total. She attended the Neon international nighttime economy forum in May.

Mr Khan faced criticism for a five-day trip to the US in May last year in which he was seen schmoozing with James Corden on a rooftop terrace bar in Los Angeles after visiting a cannabis factory.

https://www.msn.com/en-gb/news/other/hypocrite-sadiq-khan-and-his-team-rack-up-more-than-430-000-air-miles-since-he-was-elected-london-mayor-in-2016/ar-AA1gRg5a

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September 19, 2023 at 04:02AM

Want Time Freezing or Boiling In The Dark: Keep Backing Wind & Solar

Pinning your power needs to intermittent wind and solar power comes with a grab bag of consequences. Not least, blackouts whenever surging demand coincides with calm weather and/or sunset.

Whether it’s wind and solar-obsessed South Australia or Germany, the results are inevitable.

The cancer that began in South Australia – the only state in Australia to ever suffer a statewide blackout (that lasted for days in places) and a string of others – has spread across the Eastern Grid to other states following SA’s wind and solar-obsessed lead.

The team from Jo Nova outlines a very dark future for Australian power consumers. Following which, we turn to an extract from a documentary put together by Deutsche Welle, that heralds an equally dismal future for Germans.

Panic now: The Australian national grid manager admits blackouts are coming
Jo Nova Blog
Jo Nova
2 September 2023

We’re on the precipice of a radical experiment with a national electricity grid.

The AEMO (manager of the Australian grid) has finally released the major report on problems coming in the next ten years on our national grid, and it’s worse than they thought even six months ago. They euphemistically refer to the coming “reliability gaps”. They could have said “blackouts” instead, but a gap in reliability sounds so much nicer.

Bizarrely, the lead graph of the 175 page AEMO report goes right off the scale, mysteriously peaking in the unknown and invisible real estate off the top of the chart.  And they’re not projecting troubles fifty years from now. Those cropped peaks of invisible pain hit from 2027.

And even the pain we can see is apparently quite bad. Two states are already likely to breach “the interim reliability measure” in this coming summer.  Ominously, just one day after releasing the report, the AEMO is calling for tenders for “reliability reserves” in South Australia and Victoria. Apparently, they want offers of industries ready to shut down who aren’t already on the list, and they want spare generation too — get this — even asking for “small onsite generators”. Does that sound bad to you? It sounds bad to me.

As the calm analyst Paul McArdle says:

“Based on current trajectory, we’re in for a world of pain ahead.  …the AEMO projections are looking pretty dire.”

Consider figure 1:  A decade of blackouts coming

Have you ever seen a graph like this that hides the peaks? In the “central scenario” of the cropped graph — “only” four states of Australia go off the charts. Imagine what the bad scenario looks like…

AEMO, ESOO, 2023. Figure 1 shows the reliability forecast and indicative reliability forecast for the 2023 ESOO Central scenario. This forecast considers only the sub-set of known developments that have demonstrated sufficient commitment towards commissioning in the NEM (those developments classified as committed or anticipated), including announced retirements, and allows for project delivery schedules that may be slower than proponents have advised based on observed development, approval and commissioning requirements.

Given that South Australia flew in diesel jet engines for back up generation at one point (General Electric aero-derivative turbines)  — perhaps we can ask Qatar Airlines if they can plug some planes straight into our grid? (The government won’t let them fly in more passengers, in case it screws up Qantas profits, but that means they must have a few  planes they can spare.)

A leap to Figure 43 suggests those hidden peaks of Figure 1 might be quite high in NSW and Victoria. Figure 43 shows the same “Central Scenario” as Figure 1 — this time as dotted lines — and we are allowed to see a bit more of the graph. The y axis is the same Expected Unserved Energy (%) this time reaching up to 0.007%. But the NSW (blue) and Victorian (grey) lines are doing the Moonshot thing in 2027. They’re headed to infinity or some number the AEMO didn’t want to graph.

The solid lines in Figure 43 are the slightly better scenarios that include contributions from CER or “Consumer Energy Resources” (that’s you!). This is what the future looks like with more help from things like solar panels on rooftops, home batteries, and Electric Vehicles. It’s also the best we can do with DSP assistance — which means Demand Side Participation — those people who participate by not demanding electricity. In normal English we would call them the customers who are paid to stay away or something.

Ten different ways to go without electricity
The AEMO doesn’t use the word blackout, but it has a dozen flavours of blackouts-by-another-name, many of them voluntary or subsidized and somewhat prearranged. It looks so much better on paper to say “DSP” but it means someone, somewhere going without electricity when they would otherwise have used it. DSP gets 146 mentions in the AEMO report, giving us some idea on how mini-blackouts are now an essential part of managing a very sick grid.

At a minimum DSP may just be an inconvenience — people have to program their washing machine and pool filter to run at lunchtime, which sounds fine until you have only one sunny day that week and you have six loads of washing. In a rich world without “reliability gaps” you would just run it, conveniently, from 5 to 10 pm the night before.

DSP is code for people willing (or dragged), in some sense, to have a voluntary mini-blackout — and the report notes the major factor driving an increase in DSP uptake is because electricity is now more expensive (what a great thing?). The AEMO notes: “These higher prices have led to more benefits to customers participating in DSP schemes or responding directly to market signals”. Table 5 lists the Negawatts of voluntary outages when prices rise to $1,000, $5,000 and $7,500 per megawatt hour…

Now that Alice lives in Downunder-land — more expensive electricity means customers get more “benefits” when they don’t use it. See how this works? Only the wealthy will have the convenience of electricity whenever they want it. The underclass will be cooking on barbeques, and getting up earlier each day to program the washing machine and set up the timers for the scooters.

Ominously the AEMO projects a lot more voluntary blackouts:

Drowning in complexity
The message in 42 tables and 100 figures is unspoken, but obvious — the Australian grid is drowning in complexity, there are so many moving unpredictable parts. The report models the various possibilities of low rain, low wind, low stocks of fossil fuels, droughts, heatwaves, and unexpected outages. They try to model some combinations and permutations of multiple troubles occurring simultaneously. Whether we get and can afford electricity now depends on ocean currents in the Pacific that no one can predict. We live in the land of drought and flooding rains, and we’re hoping the weather will be nice.

The AEMO brightly says that it can be managed, see Figure 2, if we just build 10,000 kilometers of high transmission lines through farmland and forests, and then finish all the wind farms and solar magic panels, along with lots more voluntary blackouts, “consumer investments” (home batteries) and dispatchable capacity (whatever could that be?)

The last thought is the predictions for South Australia:
There is an 84% chance under a “neutral/unknown climate outlook” that South Australia will have no blackouts this summer. But there is a 16% chance that some will occur, and these are most likely to be 1-3 hours long affecting 5 to 30% of the region (which means “of the state”, presumably). But there is a tiny chance they might lose half the state for as much as 16 hours (spread over four different nights, say). I bet they are praying they don’t get a hot windless week?

But even if they don’t have one blackout, more of people’s lives will be wasted paying electricity bills and reading articles on how to save electricity, how to reprogram the pool filter, how to charge the kids scooter, how to put out fires started by the scooter…

Electricity predictions, South Australia unreliability, blackouts.

If that’s a neutral/unknown outlook, what does it look like for a long hot summer?

Finally, for the data nerds: The text that officially goes with the graph above:

Figure 22 shows a bubble plot of the distribution of USE outcomes that are forecast in South Australia for the 2023-24 summer, under a neutral/unknown climate outlook. It includes the total outage duration and average depth in each simulation

    • The remainder of simulations, which are collectively 16% probable, are represented by the other bubbles on
      the chart. Should USE occur, it is most likely to occur for between one hour and three hours and be of an
      average USE magnitude equivalent to between 5% and 30% of average regional demand. Within each event,
      larger magnitudes of USE than the average may occur during the duration of the event.
    • There is a very low probability for USE as deep as 55% of average regional demand, or as long as 16 total
      hours, which may occur over multiple individual USE events, for example four different evenings. These
      outcomes each represent the result of a single annual simulation, with an estimated probability of
      approximately 1 in 4,000.

REFERENCES

The AEMO 2023 Electricity Statement of Opportunities (ESOO) report, a 10-year reliability outlook that signals development needs for each state in the National Electricity Market (NEM). August 31, 2023

AEMO — Interim Reliability Reserves Invitation to Tender  2023/24, Sept 1, 2023
Jo Nova Blog

Meanwhile in Germany, a surprisingly balanced documentary from DW (Deutsche Welle) Germany’s left leaning public broadcaster has been released. It looks at the proposed outcomes of country-wide blackouts.

Power failure in Germany – Horror scenario or genuine possibility?
YouTube
Deutsche Welle
2 September 2023

Germany wants out of fossil fuels: no coal, no gas, no nuclear power plants. Instead, the country wants to commit fully to renewables. But does this bring with it the threat of a major power blackout?

Germany is gradually realizing where the sticking points are. Take grid security: This is much easier to guarantee in a power network with just a few dozen large power stations than in a decentralized network with multiple small-scale electricity producers such as rooftops with solar panels or wind turbines. “It’s now a matter of having to intervene several times almost every day to guarantee grid security,” says the spokesperson for one major network operator. If grid security can no longer be maintained, the threat of a nationwide blackout suddenly becomes very real.

Another problem is reliability. Because the sun doesn’t always shine and the wind doesn’t always blow, there might be too little power available on particular days and at particular times of the year. This also raises the possibility of unforeseen power failures. One potential remedy could be power storage.

There are many different ideas about how to securely store energy in order to bridge power gaps in the renewables’ supply: pumped-storage power plants, hydrogen storage, gigantic batteries. But, if these technologies exist at all, they do so only on a very small scale: Current storage capacity in Germany is 40 gigawatt hours – enough to supply the country for up to 60 minutes. And if there’s still no wind and the sun still isn’t shining? Does politics have a plan to provide Germany with sufficient energy to avert a potential blackout? These are some of the key questions explored by this documentary. The lack of comment on Germany’s crazy closure of its nuclear plants seems a glaring omission.

YouTube

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September 19, 2023 at 02:36AM

THE SKEPTICS HANDBOOK VOLUME 2 – WHY CO2 DOES NOT CONTROL THE EARTH’S CLIMATE

I have only just come across this second volume of the Skeptics Handbook which is packed with interesting facts that you will never see in any mainstream publication or on TV. Jo Nova has a great way of putting across difficult material in a simple and direct style. The whole thing is well worth reading, but I particularly like this section:

The one flaw that wipes out the crisis

Carbon dioxide only causes 1.1°C of warming if it doubles. That’s according to the IPCC. Did you know? The real game changer is water. Researchers made guesses about humidity and clouds in the early 1980s and they built these guesses into their models. We now know they were wrong, not about carbon, but about water in the form of humidity and clouds. Here’s how the models can be right about carbon and wrong about the climate. CO2 is a greenhouse gas, and it warms the planet. The modellers guessed that as the world warmed, more water would evaporate, and the rising humidity would lock in more heat. Makes sense. Humid nights are warmer than clear nights. This is called “feedback” — carbon warms us, which lifts humidity, which warms us even more, at least in theory. But water is complex and fickle. Humidity can stay ‘humid’, or turn into low clouds, high clouds, or fall out as rain, hail or snow.

  And they all have a different effect. Every prediction over 1.1 degrees relies on “feedback” of some sort. But what if that extra humidity turned into low clouds? What if it just rained out? What if fewer high clouds formed? Any of these would cool the planet. Without the effects of feedbacks to amplify carbon’s minor warming, there is no disaster, and that’s exactly what the observations tell us. Lindzen found that as the planet warms it gives off more radiation. Spencer found that as the planet warms, we get fewer high clouds. Paltridge found that humidity levels have fallen. The missing hot spot shows the models are wrong. There goes almost all of the warming. The models exaggerate by a factor of six. The 3.3°C scare is really only about half a degree of extra warmth. Who needs to transform economies to prevent half a degree of warming, most of which has already happened? Who indeed? 

Sources: Feedbacks: (projected) IPCC Assessment Report 4, Chapter 8. (Measured) Lindzen et al 2009. Clouds: Spencer et al 2007. Humidity, Paltridge et al, 2009.

the_skeptics_handbook_IIj-sml.pdf (joannenova.com.au)

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September 19, 2023 at 01:50AM

Update: DOE Appliance Minimum Efficiency Standards

“It started with gas cooking.  It will end with getting gas out of homes and business entirely, If they can. Basically, what we’re witnessing is the energy equivalent of ethnic cleansing. I’ve been saying this for years but now it should be obvious.”

The U.S. Department of Energy (DOE) under the Biden Administration has significantly accelerated the pace of minimum appliance efficiency rulemaking. With this acceleration, there has been a marked decrease in DOE’s analytical quality and transparency. The purpose of this update is to summarize:

  1. Energy Conservation Standards for Consumer Conventional Cooking Products
  2. Energy Conservation Standards for Consumer Products; Boilers
  3. Energy Conservation Standards for Consumer Water Heaters

Note: In DOE-speak, the term ‘consumer’ means non commercial/industrial, or just residential.

Part 1: Consumer Cooking Products

On April 27, 2023, MasterResource published DOE vs. Gas Cooking: A Review of Critical Comments. On August 2, 2023, DOE reopened the docket with a “Notification of data availability and request for comment (NODA) with comments due September 1. More than 100 comments were filed. 

The NODA substantially changed the Supplemental notice of proposed rulemaking and announcement of public meeting & request for comments (SNOPR) that my April 27 article summarized . DOE probably should have (or at least could have) issued its NODA as a SNOPR and allowed more time to develop comments than the 30 days the NOPR allowed. A request for extension of the comment period was timely filed but denied by DOE on August 30. This request contained the following excerpt that summarized the effects of ignoring such requests:

 “Ad hoc departures are not proper, for such activities disrupt orderly processes and harm predictability, which are the hallmarks of lawful administrative action.”

Footnote 5 of that statement further stated:

See, e.g., Reuters Ltd. v. FCC, 781 F.2d 946, 950-51 (D.C. Cir. 1986) (“[I]t is elementary that an agency must adhere to its own rules and regulations. Ad hoc departures from those rules, even to achieve laudable aims, cannot be sanctioned . . . for therein lie the seeds of destruction of the orderliness and predictability which are the hallmarks of lawful administrative action. Simply stated, rules are rules, and fidelity to the rules which have been properly promulgated, consistent with applicable statutory requirements, is required of those to whom Congress has entrusted the regulatory missions of modern life.”); Brock v. Cathedral Bluffs Shale Oil Co., 796 F.2d 533, 536 (D.C. Cir. 1986) (“It is axiomatic that an agency must adhere to its own regulations.”); Mine Reclamation Corp. v. FERC, 30 F.3d 1519, 1524 (D.C. Cir. 1994) (on its way to decision an agency must follow its own regulations). [emphasis added]

Some commenters viewed the NODA and relatively short (30-day) comment period as a violation to  the Administrative Procedures Act codified by 5 U.S.C. § 551(5)–(7) and the DOE’s “process rule” codified by 10 CFR 430 Appendix A to Subpart C. One such commenter making this case was the Institute for Energy Research (IER).

Other comments with detailed content in opposition of DOE’s proposal for consumer cooking products included those of:

  1. Association of Home Appliance Manufacturers (AHAM)
  2. National Association of Home Builders (NAHB)
  3. Gas Analytics & Advocacy Services, LLC (GAAS)
  4. Joint Gas industry

The third reference in the above list are my comments. They addressed what has changed since DOE determined (in 2019) that additional efficiency mandates for gas cooking appliances is not justified. In short, Biden happened. With that change, DOE resorted to a longstanding bias that any amount of net positive cash flow (greater than zero) on average was sufficient economic justification. I cited AHAM’s press release “Gas Cooking Appliances Remain at Risk Despite New DOE Data” for this NODA that succinctly justified what that amount now is:

“The revised data reduces consumer savings to just 9 cents per month.

I contend no one would freely elect to invest in anything with that kind of return-on-investment (ROI). Additionally, 9 cents per month is far less than the uncertainty range within DOE’s economic calculations.  Besides, DOE’s economic calculations typically low-ball increased maintenance costs and over-inflate fuel costs (among many other biased input assumptions).

What else has changed is that DOE cost-effectiveness now includes highly controversial benefits from reduced climate change allowed by grossly inflated social cost of carbon (SCC) avoidance and health benefits from improved indoor air quality (IAQ). As shown by the following table, the economic add-ons of “climate” (SCC) and “health” (improved IAQ) benefits greatly exceed the reduced energy consumption values (shown as “consumer operating cost savings”) that the enabling legislation envisioned should be the leading criteria under the Energy Conservation and Policy Act (EPCA):

Further summarizing Table 1.2.2, for a 3% discount rate and the shown $259.2 million of DOE estimated net benefits, well over half ($160.8 million) are attributable to factors beyond the original intent of the 1975 Energy Policy and Conservation Act (EPCA) to provide “significant” consumer operating cost savings. [1] A similar ratio exists for a 7% discount rate. Of course, “significant” is defined by DOE.  And, at least for the present, “significant” appears to mean any amount of net positive cash flow greater than zero.

My comments also cited a recent paper that debunked assumed IAQ benefits.  The abstract of that paper follows:

  • Reliability of Meta-Analysis Research Claims for Gas Stove Cooking−Childhood Respiratory Health Associations
    Abstract:
    Odds ratios or p-values from individual observational studies can be combined to examine a common cause−effect research question in meta-analysis. However, reliability of individual studies used in meta-analysis should not be taken for granted as claimed cause−effect associations may not reproduce. An evaluation was undertaken on meta-analysis of base papers examining gas stove cooking (including nitrogen dioxide, NO2) and childhood asthma and wheeze associations. Numbers of hypotheses tested in 14 of 27 base papers (52%) used in meta-analysis of asthma and wheeze were counted. Test statistics used in the meta-analysis (40 odds ratios with 95% confidence limits) were converted to p-values and presented in p-value plots. The median (interquartile range) of possible numbers of hypotheses tested in the 14 base papers was 15,360 (6,336−49,152). None of the 14 base papers made mention of correcting for multiple testing, nor was any explanation offered if no multiple testing procedure was used. Given large numbers of hypotheses available, statistics drawn from base papers and used for meta-analysis are likely biased. Even so, p-value plots for gas stove−current asthma and gas stove−current wheeze associations show randomness consistent with unproven gas stove harms. The meta-analysis fails to provide reliable evidence for public health policy making on gas stove harms to children in North America. NO2 is not established as a biologically plausible explanation of a causal link with childhood asthma. Biases – multiple testing and p-hacking – cannot be ruled out as explanation for a gas stove−current asthma association claim. Selective reporting is another bias in published literature of gas stove–childhood respiratory health studies.

Part 2: Consumer Boilers

On September 12, 2023, DOE held a public webinar to go over its proposal for increased minimum efficiencies for residential boilers. A 59-page slide deck for that meeting is here. (If you have never read one of these slide decks, I urge you to do so. It’s a relatively painless way of getting familiar with the ‘administrative state’ going about its business of picking winners and losers.)

The meeting went from 10 am to 3 pm (with a 1-hour lunch break). For the very first time (that I can recall), there were many participants representing manufacturing interests that would be adversely impacted by DOE’s proposal, and they were quite vocal about it (in a professional way of course). 

Hopefully soon, DOE will publish a transcript of that meeting. That transcript will then become part of the record for this docket and can thus be used in litigation that appears likely at this point. And that is why the public meetings offer a relatively easy way to get “into the record.”

And why would manufacturers want to litigate? DOE would put some of them out of business. The reason is DOE would not just ban non-condensing hot water boilers, it would mandate the top end of condensing boiler efficiencies of 95% (“max-tech” in DOE-speak) as shown on page 56.

Part 3: Consumer Water Heaters

On September 13, 2023, DOE held a public webinar to go over its proposal for increased minimum efficiencies for residential water heaters that lasted 3 hours. A 74-page slide deck for that meeting is here.  There were nearly twice as many participants on line compared to the number of webinar participants the day before for consumer boilers; and many of the participants represented water heater manufacturers, some of which would be devastated if DOE’s proposed mandates were finalized. 

One manufacturer that stood out in this regard was Rinnai America. Rinnai is the sole manufacturer of non-condensing tankless water heaters in the U.S. Rinnai’s President stated, as I recall, that DOE’s proposed ban of non-condensing water heaters would shut down Rinnai’s new factory that cost $70 million. That, of course, would devastate the many involved.

Like the consumer cooking NODA, DOE consumer water heating NOPR is again calling for a very short comment period (ending on September 26, 2023). A request for extending the comment period has been submitted, but DOE has yet to acknowledge it.

Conclusions

DOE has been (ostensibly) ‘improving’ appliance efficiency for nearly a half-century.  The low hanging fruit is long gone. In many cases, DOE is doing more harm than good and using unfair tactics to maintain control and reward its minions. What we have now is relentless self-serving “mission creep” of the administrative state and its “useful idiots” that forces consumers to fund the erosion of viable energy alternatives. The passage of the Inflation Reduction Act is greatly aiding and abetting this forced transformation away from free market forces.

“Industry” can elect to litigate whatever final rule DOE chooses to further regulate consumer appliance minimum efficiencies. That’s what we did for commercial boilers and we “won.” But doing so takes years and very deep pockets.  Furthermore, even if “industry” prevails and gets a bad rule vacated, a new review is required every 6 years under EPCA.  Another concern is when the clock restarts once a final rule is vacated.  I don’t know.  It could be argued that 6 years has passed already and DOE could possibly re-analyze the need for new commercial boiler standards immediately.

DOE doesn’t care what it costs to litigate. After all, DOE has the backing of the Department of Justice for such matters. In my opinion, DOE has strayed too far from any redeeming virtue that may have originally existed from the 1975 passage of EPCA. It’s past time for Congress clean up the mess it created by enacting EPCA and the numerous ambiguous loopholes that gives undeserved deference to the administrative state to interpret. A valid question is whether EPCA (and DOE for that matter) should be salvaged or scrapped.

Next Steps

We plan on making EPCA (reform or abolishment) a top priority. Defunding the IRA goes hand-in-hand with overhauling EPCA. DOE reform also requires DOE to obey its so-called “process rule.” I recommend that Congress order DOE to do so in conjunction with public workshops that fully include “we, the people” rather than preclude them (as did DOE’s misguided attempt at “peer review” with the National Academies. [For a full review of DOE’s process , please see my December 9, 2020, article, Energy Efficiency Policy Under Trump (Part II: EERE’s Process Rule & Overhaul). Also see the attachments to my comments for the gas cooking NOPR.]

Biden’s DOE wants to eliminate alternatives to electricity. This fixation became apparent to all with their planned elimination of gas cooking and ran head-on with consumers that hold gas cooking near-and-dear. Consumer preferences for gas cooking was and is a major obstacle to control via societal electrification overall. 

This exact sentiment was a subject of discussion at the Electric Power Research Institute’s (EPRI) Electrification 2018 International Conference & Exposition that I attended. If you follow the link, note how EPRI coopted the National Association of Regulatory Utility Commissioners (NARUC) to endorse it. But I’ll have to leave this situation for another time (stay tuned).

As this article hopefully conveys, it started with gas cooking. It will end with getting gas out of homes and business entirely, If they can. Basically, what we’re witnessing is the energy equivalent of ethnic cleansing under the guise of fighting the “existential threat” of anthropogenic global warming. I’ve been saying this for years but now it should be obvious.

——————————

Mark Krebs, a mechanical engineer and energy policy consultant, has been involved with energy efficiency design and program evaluation for over thirty years. Mark has served as an expert witness in dozens of State energy efficiency proceedings, has been an advisor to DOE and has submitted scores of Federal energy-efficiency filings. His many MasterResource posts on natural gas vs. electricity and “Deep Decarbonization” federal policy can be found here.

Mark’s first article was in Public Utilities Fortnightly, titled “It’s a War Out There: A Gas Man Questions Electric Efficiency” (December 1996). Recently retired from Spire Inc., Krebs has formed an energy policy consultancy (Gas Analytic & Advocacy Services) with other veteran energy analysts.


[1] Note: EPCA was and is an energy and economic statute, NOT an environmental nor public health statute despite DOE’s decades of trying to make it so.

——————————

Mark Krebs, a mechanical engineer and energy policy consultant, has been involved with energy efficiency design and program evaluation for over thirty years. Mark has served as an expert witness in dozens of State energy efficiency proceedings, has been an advisor to DOE and has submitted scores of Federal energy-efficiency filings. His many MasterResource posts on natural gas vs. electricity and “Deep Decarbonization” federal policy can be found here.

Mark’s first article was in Public Utilities Fortnightly, titled “It’s a War Out There: A Gas Man Questions Electric Efficiency” (December 1996). Recently retired from Spire Inc., Krebs has formed an energy policy consultancy (Gas Analytic & Advocacy Services) with other veteran energy analysts.

The post Update: DOE Appliance Minimum Efficiency Standards appeared first on Master Resource.

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September 19, 2023 at 01:07AM