Draft
- September
2023
Recordkeeping and Reporting of the Management of Certain Hydrofluorocarbons and Substitutes under Subsection (h) of the American Innovation and Manufacturing Act of 2020
PART A OF THE SUPPORTING STATEMENT
OMB Number: 2060-NEW; EPA ICR Number: 2778.01
The American Innovation and Manufacturing (AIM) Act of 2020 authorizes EPA to address hydrofluorocarbons (HFCs) 1 in three main ways: phasing down HFC production and consumption through an allowance allocation program; promulgating certain regulations for HFCs and their substitutes for purposes of maximizing reclaiming and minimizing releases of HFCs from equipment and ensuring the safety of technicians and consumers; and facilitating the transition to next-generation technologies by restricting use of these HFCs in the sector or subsectors in which they are used.
This ICR covers provisions under subsection (h) of the AIM Act that establishes a program for the management of HFCs, including requirements for leak repair and use of automatic leak detection (ALD) systems for certain equipment using refrigerants containing HFCs and certain substitutes; use of reclaimed HFCs in certain sectors or subsectors; the servicing, repair, disposal, or installation of fire suppression equipment that contains HFCs, as well as requirements related to technician training in the fire suppression sector; recovery of HFCs from cylinders; and container tracking requirements. In accordance with the subsection (h) proposed rulemaking “Phasedown of Hydrofluorocarbons: Management of Certain Hydrofluorocarbons and Substitutes under Subsection
(h) of the American Innovation and Manufacturing Act of 2020,” owners/operators, technicians, reclaimers, recyclers, producers, importers, and packagers are required to electronically report data to EPA. Additionally, the proposed rulemaking proposes alternative Resource Conservation and Recovery Act (RCRA) standards for certain spent ignitable refrigerants being recycled for use.
For the three years covered by this ICR, the total respondent burden associated with this information collection will average 202,939 hours per year and the respondent cost will average
$14,779,827 per year. This includes an average of $2,651,286 per year for reporting, $8,887,712 per year for recordkeeping, and $88,124 avoided per year for reclamation reporting and recordkeeping. Over the same time period, the total estimated cost for EPA of the information collection will average $1,693,793 per year. The total estimated cost for all respondents and EPA will average
$16,473,621 per year. These totals reflect the avoided burden and costs for reclaimers associated with the proposed requirements for use of reclaimed HFCs.
1 The AIM Act refers to the HFCs that are regulated under its provisions as regulated substances. EPA uses the terms “regulated substance” and “HFC” interchangeably in this document.
This information collection is authorized under the AIM Act (Section 103 in Division S, Innovation for the Environment, of the Consolidated Appropriations Act, 2021 (Pub. L. 116-260), codified at 42 U.S.C. § 7675). In subsection (k)(1)(A), the AIM Act provides EPA with the authority to promulgate such regulations as are necessary to carry out EPA’s functions under the Act. Also Subsection (k)(1)(C) of the AIM Act states that section 114 of the CAA applies to the AIM Act and rules promulgated under it as if the AIM Act were included in title VI of the CAA. Thus, section 114 of the Clean Air Act, which provides authority to EPA Administrator to require recordkeeping and reporting in carrying out provisions of the CAA, also applies to and supports this rulemaking.
Consistent with the AIM Act’s provision in subsection (h) that “for the purposes of maximizing reclaiming and minimizing the release of a regulated substance from equipment and ensuring the safety of technicians and consumers, the Administrator shall promulgate regulations to control, where appropriate, any practice, process, or activity regarding the servicing, repair, disposal, or installation of equipment.” Under the proposed rule, owners/operators, technicians, reclaimers, recyclers, producers, importers, packagers, or suppliers that are performing leak repair of appliances containing 15 pounds or more of HFCs (whether used neat or in a blend) and/or substitutes for HFCs as a refrigerant with a global warming potential (GWP) above 53 with specific exceptions; using automatic leak detection systems for certain equipment containing 1500 pounds or more of HFC or substitutes for HFCs with a GWP above 53 for both new and existing appliances; using reclaimed HFCs in certain sectors or subsectors for the initial charge or installation of equipment and servicing of existing equipment starting January 1, 2028; and labeling cylinders for HFCs used in the servicing, repair, and/or installation of equipment; or adhering to requirements regarding the servicing, repair, disposal, or installation of fire suppression equipment that contains HFCs, with the purpose of minimizing the release of HFCs from that equipment, as well as requirements related to technician training in the fire suppression sector should submit to the Administrator reports, maintain records, and implement labeling requirements on cylinders that contain HFCs.
EPA is proposing to require reporting and recordkeeping to facilitate compliance with and enforcement of the proposed requirements under subsection (h). The labels for cylinders will indicate the substance being sold, information regarding when and by whom the material was reclaimed, and a unique serial number associated with the container.
The Paperwork Reduction Act (PRA) requires Federal agencies to manage information resources to reduce information collection burdens on the public; increase program efficiency and effectiveness; and improve the integrity, quality, and utility of information to all users within and outside the Agency, including capabilities for ensuring dissemination of public information, public access to government information, and protections for privacy and security (44 USC 3506).
The reporting, recordkeeping, and labeling proposed requirements under subsection (h) enable EPA to ensure compliance with the requirements for:
leak repair of appliances containing HFCs (whether used neat or in a blend) and/or certain substitutes for HFCs. The leak repair requirements would apply to appliances containing 15 pounds or more of HFCs (whether used neat or in a blend) and/or substitutes for HFCs as a refrigerant with a GWP above 53 with specific exceptions;
use of automatic leak detection systems for certain equipment containing 1,500 pounds or more of HFC or substitutes for HFCs with a GWP above 53 for both new and existing appliances;
use of reclaimed HFCs in certain sectors or subsectors for the initial charge or installation of equipment and servicing of existing equipment starting January 1, 2028;
labeling cylinders of reclaimed HFCs to certify the contents meet the proposed limit on virgin HFCs;
requirements regarding the servicing, repair, disposal, or installation of fire suppression equipment that contains HFCs, with the purpose of minimizing the release of HFCs from that equipment, as well as requirements related to technician training in the fire suppression sector; and
container tracking requirements.
EPA intends to collect many reports proposed to be required by this ICR electronically through existing web-based systems used to collect data under the Greenhouse Gas Reporting Program (GHGRP) 2 and prior AIM Act rulemakings, which will help minimize duplicative reporting.
Under the HFC Allocation Framework Rule, EPA requires quarterly activity and annual inventory reporting by fire suppressant recyclers. Under this ICR, it is proposed that entities that perform first fill of equipment, service (e.g., recharge) equipment, and/or recycle HFCs in the fire suppression sector would be required to report on activity annually and would not be required to report on annual inventory. EPA will collect comments on these proposed reporting requirements and whether compliance with one set of requirements would satisfy both obligations.
The proposed rulemaking “Phasedown of Hydrofluorocarbons: Management of Certain Hydrofluorocarbons and Substitutes under Subsection (h) of the American Innovation and Manufacturing Act of 2020” will serve as the public notice for this ICR. EPA is requesting comment on this ICR in that proposed rulemaking.
The burden calculations were developed based on EPA’s experience implementing reporting and recordkeeping requirements on ozone-depleting substances (ODS) and HFCs.
EPA will also collect comments on the proposed rulemaking “Phasedown of Hydrofluorocarbons: Management of Certain Hydrofluorocarbons and Substitutes under Subsection (h) of the American Innovation and Manufacturing Act of 2020” and will adjust this ICR based on the comments received.
2 The GHGRP requires reporting of greenhouse gas (GHG) data and other relevant information from large GHG emission sources, fuel and industrial gas suppliers, and carbon dioxide (CO2) injection sites in the United States. The program generally requires reporting when emissions from covered sources are greater than 25,000 metric tons of CO2 e per year. Publicly available information includes facility names, addresses, and latitude/longitude information.
Fire suppressant recycling reports are proposed to be required on an annual basis, and chronic leak reports would be submitted once a year. The remaining proposed information collection requirements are occasional submissions. Occasional submissions, such as requests for extensions to repair, retrofit, or retirement timelines, are designed to allow entities flexibility in meeting regulatory requirements.
This collection of information has a proposed three-year requirement for record and report retention, which is consistent with the three-year requirement for record retention specified in the general information collection guidelines in 5 CFR 1320.5(f) of the OMB regulations implementing the Paperwork Reduction Act and with all other OMB guidelines at 5 CFR 1320.5(d)(2).
For all data elements that EPA has determined to be confidential or for which EPA will provide provisional confidential treatment if claimed by reporters as CBI, EPA will release aggregated data if there are three or more reporting entities.
This section is not applicable because this ICR does not involve matters of sensitive nature.
The appropriate North American Industry Classification System (NAICS) for potentially affected entities are listed below in Table I.
NAICS Code |
NAICS Industry Description |
236118 |
Residential Remodelers |
236220 |
Commercial and Institutional Building Construction |
238220 |
Plumbing, Heating, and Air-Conditioning Contractors |
238990 |
All Other Specialty Trade Contractors |
311812 |
Commercial Bakeries |
321999 |
All Other Miscellaneous Wood Product Manufacturing |
322299 |
All Other Converted Paper Product Manufacturing |
324191 |
Petroleum Lubricating Oil and Grease Manufacturing |
324199 |
All Other Petroleum and Coal Products Manufacturing |
325199 |
All Other Basic Organic Chemical Manufacturing |
325211 |
Plastics Material and Resin Manufacturing |
325412 |
Pharmaceutical Preparation Manufacturing |
325414 |
Biological Product (except Diagnostic) Manufacturing |
325998 |
All Other Miscellaneous Chemical Product and Preparation Manufacturing |
326299 |
All Other Rubber Product Manufacturing |
NAICS Code |
NAICS Industry Description |
327999 |
All Other Miscellaneous Nonmetallic Mineral Product Manufacturing |
332812 |
Metal Coating, Engraving (except Jewelry and Silverware), and Allied Services to Manufacturers |
332999 |
All Other Miscellaneous Fabricated Metal Product Manufacturing |
333415 |
Air-Conditioning and Warm Air Heating Equipment and Commercial and Industrial Refrigeration Equipment Manufacturing |
333511 |
Industrial Mold Manufacturing |
333912 |
Air and Gas Compressor Manufacturing |
333999 |
All Other Miscellaneous General Purpose Machinery Manufacturing |
334413 |
Semiconductor and Related Device Manufacturing |
334419 |
Other Electronic Component Manufacturing |
334516 |
Analytical Laboratory Instrument Manufacturing |
335220 |
Major Household Appliance Manufacturing |
336120 |
Heavy Duty Truck Manufacturing |
336212 |
Truck Trailer Manufacturing |
336214 |
Travel Trailer and Camper Manufacturing |
3363 |
Motor Vehicle Parts Manufacturing |
3364 |
Aerospace Product and Parts Manufacturing |
336411 |
Aircraft Manufacturing |
336611 |
Ship Building and Repairing |
336612 |
Boat Building |
339112 |
Surgical and Medical Instrument Manufacturing |
339113 |
Surgical Appliance and Supplies Manufacturing |
339999 |
All Other Miscellaneous Manufacturing |
423120 |
Motor Vehicle Supplies and New Parts Merchant Wholesalers |
423450 |
Medical, Dental, and Hospital Equipment and Supplies Merchant Wholesalers |
423610 |
Electrical Apparatus and Equipment, Wiring Supplies, and Related Equipment Merchant Wholesalers |
423620 |
Household Appliances, Electric Housewares, and Consumer Electronics Merchant Wholesalers |
423690 |
Other Electronic Parts and Equipment Merchant Wholesalers |
423720 |
Plumbing and Heating Equipment and Supplies (Hydronics) Merchant Wholesalers |
423730 |
Warm Air Heating and Air-Conditioning Equipment and Supplies Merchant Wholesalers |
423740 |
Refrigeration Equipment and Supplies Merchant Wholesalers |
423830 |
Industrial Machinery and Equipment Merchant Wholesalers |
423840 |
Industrial Supplies Merchant Wholesalers |
423850 |
Service Establishment Equipment and Supplies Merchant Wholesalers |
423860 |
Transportation Equipment and Supplies (except Motor Vehicle) Merchant Wholesalers |
423990 |
Other Miscellaneous Durable Goods Merchant Wholesalers |
424690 |
Other Chemical and Allied Products Merchant Wholesalers |
424820 |
Wine and Distilled Alcoholic Beverage Merchant Wholesalers |
441310 |
Automotive Parts and Accessories Stores |
443141 |
Household Appliance Stores |
444190 |
Other Building Material Dealers |
NAICS Code |
NAICS Industry Description |
445110 |
Supermarkets and Other Grocery (except Convenience) Stores |
445131 |
Convenience Retailers |
445298 |
All Other Specialty Food Retailers |
446191 |
Food (Health) Supplement Stores |
449210 |
Electronics and Appliance Retailers |
452311 |
Warehouse Clubs and Supercenters |
453998 |
All Other Miscellaneous Store Retailers (except Tobacco Stores) |
45711 |
Gasoline Stations With Convenience Stores |
481111 |
Scheduled Passenger Air Transportation |
488510 |
Freight Transportation Arrangement |
493110 |
General Warehousing and Storage |
531120 |
Lessors of Nonresidential Buildings (except Mini warehouses) |
541330 |
Engineering Services |
541380 |
Testing Laboratories |
541512 |
Computer Systems Design Services |
541519 |
Other Computer Related Services |
541620 |
Environmental Consulting Services |
561210 |
Facilities Support Services |
561910 |
Packaging and Labeling Services |
561990 |
All Other Support Services |
562111 |
Solid Waste Collection |
562211 |
Hazardous Waste Treatment and Disposal |
562920 |
Materials Recovery Facilities |
621498 |
All Other Outpatient Care Centers |
621999 |
All Other Miscellaneous Ambulatory Health Care Services |
72111 |
Hotels (Except Casino Hotels) and Motels |
72112 |
Casino Hotels |
72241 |
Drinking Places (Alcoholic Beverages) |
722511 |
Full-service Restaurants |
722513 |
Limited-Service Restaurants |
722514 |
Cafeterias, Grill Buffets, and Buffets |
722515 |
Snack and Nonalcoholic Beverage Bars |
81119 |
Other Automotive Repair and Maintenance |
811219 |
Other Electronic and Precision Equipment Repair and Maintenance |
811412 |
Appliance Repair and Maintenance |
922160 |
Fire Protection |
All persons that own, operate, or service refrigerant-containing appliances with a charge size of 15 pounds or more of a refrigerant containing an HFC or a substitute for an HFC with a GWP above 53; perform first fill of equipment, service (e.g., recharge) equipment, and/or recycle HFCs in the fire suppression sector; or produce, import, package, supply, or reclaim HFCs must record and/or report the following information either on an annual or as-needed basis.
Request for Leak Repair Extension Proposed Requirements:
Identification and address of the facility;
The name of the owner or operator of the refrigerant-containing appliance;
The leak rate;
The method used to determine the leak rate and full charge;
The date the refrigerant-containing appliance exceeded the applicable leak rate;
The location of leak(s) to the extent determined to date;
Any repair work that has been performed thus far, including the date that work was completed;
The reasons why more than 30 days (or 120 days if an industrial process shutdown is required) are needed to complete the repair;
An estimate of when the work will be completed; and
If the estimated completion date is to be extended, a new estimated date of completion and documentation of the reason for that change.
Request to Cease Retrofit/Retirement Plan Proposed Requirements:
The date that the requirement to develop a retrofit or retirement plan was triggered;
The leak rate;
The method used to determine the leak rate and full charge;
The location of the leak(s) identified in the leak inspection;
A description of repair work that has been completed;
A description of repair work that has not been completed;
A description of why the repair was not conducted within the time frames required; and
A statement signed by an authorized official that all identified leaks will be repaired and an estimate of when those repairs will be completed (not to exceed one year from date of the plan).
Request for Retrofit/Retirement Plan Extension Proposed Requirements (for industrial process refrigeration equipment only):
The identification of the refrigerant-containing appliance;
The name of the owner or operator;
The leak rate;
The method used to determine the leak rate and full charge;
The date the refrigerant-containing appliance exceeded the applicable leak rate;
The location of leak(s) to the extent determined to date;
Any repair work that has been finished thus far, including the date that work was finished;
A plan to finish the retrofit or retirement of the refrigerant-containing appliance;
The reasons why more than one year is necessary to retrofit or retire the refrigerant- containing appliance;
The date of notification to EPA;
An estimate of when retrofit or retirement work will be finished; and
If the estimated completion date is to be revised, a new estimated date of completion and documentation of the reason for that change.
Chronic Leak Reporting Proposed Requirements:
Appliance owner name;
Facility name and address where appliance is located;
Appliance ID or description;
Appliance type;
Refrigerant type;
Full charge of appliance (in pounds);
Annual percent refrigerant loss;
Dates of refrigerant addition;
Amounts of refrigerant added;
Date of last successful follow-up verification test;
Explanation of cause of refrigerant losses;
Description of repair actions taken; and
Whether a retrofit or retirement plan has been developed for the refrigerant-containing
appliance and, if so, the anticipated date of retrofit or retirement.
Notification of Exclusion of Destroyed Purged Refrigerants from Leak Rate Calculation Proposed Requirements:
The identification of the facility and a contact person, including the address and telephone number;
A description of the refrigerant-containing appliance, focusing on aspects relevant to the purging of refrigerant and subsequent destruction;
A description of the methods used to determine the quantity of refrigerant sent for destruction and type of records that are being kept by the owners or operators where the appliance is located;
The frequency of monitoring and data-recording; and
A description of the control device, and its destruction efficiency.
Recordkeeping Proposed Requirements:
Upon installation of covered equipment, maintain the following information:
The identification of the owner or operator of the refrigerant-containing appliance;
The address where the appliance is located;
The full charge of the refrigerant-containing appliance and the method for how the full charge was determined;
If using method 4 (using an established range) for determining full charge, records must include the range for the full charge of the refrigerant-containing appliance, its midpoint, and how the range was determined;
Any revisions of the full charge, how they were determined, and the dates such revisions occurred; and
The date of installation.
Maintain a record including the following information for each time a refrigerant-containing appliance with a full charge of 15 or more pounds is installed, serviced, repaired, or disposed of, when applicable:
The identity and location of the refrigerant-containing appliance;
The date of the installation, service, repair, or disposal performed;
The part(s) of the refrigerant-containing appliance being serviced, repaired, or disposed;
The type of service, repair, or disposal performed for each part;
The name of the person performing the installation, service, repair, or disposal;
The amount and type of refrigerant added to, or in the case of disposal removed from, the appliance;
The full charge of the refrigerant-containing appliance; and
The leak rate and the method used to determine the leak rate (not applicable when disposing of the appliance, following a retrofit, installing a new appliance, or if the refrigerant addition qualifies as a seasonal variance).
Maintain records of leak inspections that include:
The date of inspection;
The method(s) used to conduct the leak inspection;
A list of the location of each leak that was identified; and
A certification that all visible and accessible parts of the refrigerant-containing
appliance were inspected.
If using an automatic leak detection (ALD) system, maintain the following records:
Records regarding the installation and the annual audit and calibration of the system;
A record of each date the monitoring system identified a leak; and
The location of the leak.
Maintain records of all initial and follow-up verification tests that include:
The location of the refrigerant-containing appliance;
The date(s) of the verification tests;
The location(s) of all repaired leaks that were tested;
The type(s) of verification test(s) used; and
The results of those tests.
Maintain retrofit or retirement plans.
Maintain retrofit and/or extension requests submitted to EPA.
Maintain records documenting when a refrigerant-containing appliance was mothballed and when additional refrigerant was added to the appliance (or isolated component).
If excluding purged refrigerants that are destroyed from annual leak rate calculations, maintain the following records to support the amount of refrigerant claimed as sent for destruction:
The identification of the facility and a contact person, including the address and telephone number;
A description of the refrigerant-containing appliance, focusing on aspects relevant to the purging of refrigerant and subsequent destruction;
A description of the methods used to determine the quantity of refrigerant sent for destruction and type of records that are being kept by the owners or operators where the appliance is located;
The frequency of monitoring and data-recording; and
A description of the control device, and its destruction efficiency.
If excluding additions of refrigerant due to seasonal variance from the leak rate calculation, maintain records stating that the seasonal variance flexibility is being used and documenting the amount added and removed.
Maintain copies of reports submitted to EPA and any responses from EPA.
Third-Party Reporting Proposed Requirements (provided to appliance owner or operator):
For installation, service, repair, or disposal of an appliance, provide the following documentation:
The identity and location of the refrigerant-containing appliance;
The date of the installation, service, repair, or disposal performed;
The part(s) of the appliance being serviced, repaired, or disposed;
The type of service, repair, or disposal performed for each part;
The name of the person performing the installation, service, repair, or disposal;
The amount and type of refrigerant added to, or in the case of disposal removed from, the appliance;
The full charge of the refrigerant-containing appliance; and
The leak rate and the method used to determine the leak rate (not applicable when disposing of the appliance, following a retrofit, installing a new appliance, or if the refrigerant addition qualifies as a seasonal variance).
For leak inspections, provide the following documentation:
The date of inspection;
The method(s) used to conduct the leak inspection;
A list of the location of each leak that was identified; and
A certification that all visible and accessible parts of the refrigerant-containing
appliance were inspected.
For initial and follow-up verification tests, provide the following documentation:
The location of the refrigerant-containing appliance;
The date(s) of the verification tests;
The location(s) of all repaired leaks that were tested;
The type(s) of verification test(s) used; and
The results of those tests.
Annual Reporting Proposed Requirements:
The quantity of material (the combined mass of regulated substance and contaminants) by regulated substance sold, recovered, recycled, and virgin for the purpose of installation of new equipment and servicing and/or repair of fire suppression equipment;
The total mass of each regulated substance sold, recovered, recycled, and virgin; and
The total mass of waste products sent for disposal, along with information about the disposal facility if waste is not processed by the reporting entity.
Recordkeeping Proposed Requirements (to be maintained for three years):
The quantity of material (the combined mass of regulated substance and contaminants) by regulated substance sold, recovered, recycled, and virgin for the purpose of installation of new equipment and servicing and/or repair of fire suppression equipment;
The total mass of each regulated substance sold, recovered, recycled, and virgin; and
The total mass of waste products sent for disposal, along with information about the disposal facility if waste is not processed by the reporting entity.
Document fire suppression training of personnel;
Maintain an electronic copy or paper copy of the fire suppression technician training; and
Maintain records documenting that regulated substances are recovered from the fire suppression equipment before it is sent for disposal, either by recovering the regulated
substances themselves before sending the equipment for disposal or by leaving the regulated substances in the equipment and sending it for disposal to a facility.
Container Labeling Proposed Requirements:
Reclaimers certified under 40 CFR 82.164 must affix a label to any container being sold or distributed or offered for sale or distribution that contain reclaimed regulated substances to certify that the contents do not exceed 15 percent, by weight, of virgin regulated substances; and
The label must state “The contents of this container do exceed the limit on virgin regulated substance per 40 CFR 84.112(a).”
Recordkeeping Proposed Requirements (to be maintained for three years):
The name, address, contact person, email address, and phone number of the reclaimer certified under 40 CFR 82.164;
the date the container was filled with reclaimed regulated substance(s);
the amount and name of the regulated substance(s) in the container(s);
certification that the contents of the container are from a batch where the amount of virgin regulated substances does not exceed 15 percent, by weight, of the total regulated substances;
the unique serial number associated with the container(s) filled from the batch;
identification of the batch of reclaimed regulated substances used to fill the container(s); and
the percent, by weight, of virgin regulated substance(s) in the batch used to fill the container(s).
Producer One-time Tracking System Registration:
The name and address of the company;
Contact information for the owner of the company;
The date(s) of and State(s) in which the company is incorporated and State license identifier(s);
The address of each facility that sells or distributes regulated substances;
How the company introduces bulk regulated substances into U.S. commerce; and
The categories of final customers to which the supplier sells or distributes regulated substances.
Producer Tracking System Reporting Proposed Requirements:
The name or brand the regulated substance is being sold and/or marketed under;
The date the container was filled and by whom;
The unique serial number associated with the container;
The amount and name of the regulated substance(s) in the container;
The quantity of containers it was packaged in;
The size of the containers; and
The name, address, contact person, email address, and phone number of the responsible party at the facility where the container(s) were filled.
Filler and Packager One-time Tracking System Registration:
The name and address of the company;
Contact information for the owner of the company;
The date(s) of and State(s) in which the company is incorporated and State license identifier(s);
The address of each facility that sells or distributes regulated substances;
How the company introduces bulk regulated substances into U.S. commerce; and
The categories of final customers to which the supplier sells or distributes regulated substances.
Filler and Packager Tracking System Reporting Proposed Requirements:
The name or brand the regulated substance is being sold and/or marketed under;
The date the container was filled and by whom;
The unique serial number associated with the container;
The amount and name of the regulated substance(s) in the container;
The quantity of containers it was packaged in;
The size of the containers; and
The name, address, contact person, email address, and phone number of the responsible party at the facility where the container(s) were filled.
Importer One-time Tracking System Registration:
The name and address of the company;
Contact information for the owner of the company;
The date(s) of and State(s) in which the company is incorporated and State license identifier(s);
The address of each facility that sells or distributes regulated substances;
How the company introduces bulk regulated substances into U.S. commerce; and
The categories of final customers to which the supplier sells or distributes regulated substances.
Importer Tracking System Reporting Proposed Requirements:
The name or brand the regulated substance is being sold and/or marketed under;
The date it was imported;
The unique serial number associated with the container;
The size of the container
The amount and name of the regulated substance(s) in the container;
The name, address, contact person, email address, and phone number of the responsible party at the facility where the container of regulated substance(s) was filled;
The entry number and entry line number associated with the import; and
Certification that the contents of the cylinder match the substance(s) identified on the label. Reclaimer One-time Tracking System Registration:
The name and address of the company;
Contact information for the owner of the company;
The date(s) of and State(s) in which the company is incorporated and State license identifier(s);
The address of each facility that sells or distributes regulated substances;
How the company introduces bulk regulated substances into U.S. commerce; and
The categories of final customers to which the supplier sells or distributes regulated substances.
Reclaimer Tracking System Reporting Proposed Requirements:
The name or brand the regulated substance is being sold and/or marketed under;
When the regulated substance was reclaimed and by whom;
The date the reclaimed regulated substance was put into a container;
The unique serial number associated with the container;
The size of the container
The amount and name of the regulated substance(s) in the container;
The amount of virgin regulated substance(s) in the container, if any, and for HFC refrigerants, certification that it does not exceed 15 percent, by weight, of the refrigerant; and
Certification that the contents of the container match the substance(s) identified on the label
Reclaimer certification that the purity of the batch was confirmed to meet the specifications in Appendix A to 40 CFR part 82, subpart F.
Fire Suppression Agent Recycler One-time Tracking System Registration:
The name and address of the company;
Contact information for the owner of the company;
The date(s) of and State(s) in which the company is incorporated and State license identifier(s);
The address of each facility that sells or distributes regulated substances;
How the company introduces bulk regulated substances into U.S. commerce; and
The categories of final customers to which the supplier sells or distributes regulated substances.
Fire Suppression Agent Recycler Tracking System Reporting Proposed Requirements:
The name or brand the regulated substance is being sold and/or marketed under;
The date the container was filled and by whom;
The unique serial number associated with the container;
The size of the containers;
Certification that the contents of the container match the substance(s) identified on the label;
The amount and name of the regulated substance(s) in the container; and
The amount of virgin regulated substance(s) in the container, if any. Supplier One-time Tracking System Registration:
The name and address of the company;
Contact information for the owner of the company;
The date(s) of and State(s) in which the company is incorporated and State license identifier(s);
The address of each facility that sells or distributes regulated substances; and
The category of final customers the supplier sells or distributes regulated substances to. Supplier Tracking System Reporting Proposed Requirements:
Proof of transaction by scanning the machine-readable tracking identifier and updating the following information in the tracking system:
The date the disposable cylinder was received; and
The name, address, contact person, email address, and phone number of the person who sent the cylinder.
Reclaimer and Fire Suppressant Recyclers
Proof of receipt by scanning the machine-readable tracking identifier and updating the following information in the tracking system:
The date the cylinder was received; and
the name, address, contact person, email address, and phone number of the person who sent the cylinder.
Upon removing any remaining regulated substance from the cylinder, scan the machine- readable tracking identifier and update the following information in the tracking system:
The date that the regulated substances were removed from the cylinder;
Certification that all regulated substances were removed; and
The amount and name of the removed regulated substance(s).
Suppliers
Proof of receipt by scanning the machine-readable tracking identifier and updating the following information in the tracking system:
The date the cylinder was received; and
the name, address, contact person, email address, and phone number of the person who sent the cylinder.
Other Entities Capable of Refilling Cylinders (Excluding Reclaimer and Fire Suppressant Recyclers)
Proof of receipt by scanning the machine-readable tracking identifier and updating the following information in the tracking system:
The date the refillable cylinder was received; and
the name, address, contact person, email address, and phone number of the person who sent the refillable cylinder.
Upon removing any remaining regulated substance from the refillable cylinder, scan the machine-readable tracking identifier and update the following information in the tracking system:
The date that the regulated substances were removed from the refillable cylinder; and
The amount and name of the removed regulated substance(s).
Upon refilling a refillable cylinder, without removing any remaining regulated substance from the refillable cylinder, scan the machine-readable tracking identifier and update the following information in the tracking system:
Respondent Activities
A summary of respondent activities by respondent type is provided in Table II below.
Activity |
Reporting Frequency |
Owners and Operators of HFC Refrigerant-containing Appliances |
|
Submit leak repair extension request |
As Needed |
Submit request for relief from retrofit/retirement plan requirements |
As Needed |
Submit request for retrofit/retirement plan extension |
As Needed |
Submit chronic leak report |
Annual |
Submit notification that destroyed purged refrigerant was excluded from the leak rate calculation |
As Needed |
Maintain records |
N/A |
Technicians for HFC Refrigerant-containing Appliances |
|
Provide documentation to owners/operators of appliances |
As Needed |
Fire Suppression System Fillers, Servicers, and Agent Recyclers |
|
Submit annual report |
Annual |
Maintain records |
N/A |
Suppliers |
|
Register with tracking system |
One-Time |
Enter data into tracking system |
As Needed |
Reclaimers |
|
Register with tracking system |
One-Time |
Enter data into tracking system |
As Needed |
Label cylinders |
As Needed |
Maintain records |
N/A |
Fillers and Packagers |
|
Register with tracking system |
One-Time |
Enter data into tracking system |
As Needed |
Fire Suppression Agent Recyclers |
|
Register with tracking system |
One-Time |
Enter data into tracking system |
As Needed |
Producers |
|
Register with tracking system |
One-Time |
Enter data into tracking system |
As Needed |
Importers |
|
Register with tracking system |
One-Time |
Enter data into tracking system |
As Needed |
All records and reports must comply with proposed requirements for HFC regulated substances in accordance with the proposed rule “Phasedown of Hydrofluorocarbons: Management of Certain Hydrofluorocarbons and Substitutes under Subsection (h) of the American Innovation and Manufacturing Act of 2020.” Reports and records associated with the reports listed above must be kept for three years, with the exception of certain records to be kept by fire suppression system fillers, servicers, and agent recyclers.
These recordkeeping proposed requirements pertain to original documents that are held by companies in the normal course of conducting business, accounts of leak inspections, repairs, and retrofits, requests for extensions, and invoices. Information from these recordkeeping documents is summarized in reports. Recordkeeping requirements are designed to aid EPA in compliance monitoring, site inspection, and enforcement actions.
Annual activities associated with this information collection request include the following:
Review data for reporting completeness and compliance;
Review and process requests for leak repair extensions, retrofit/retirement plan extensions, and retrofit/retirement relief;
Provide reporting guidance; and
Conduct compliance monitoring activities.
EPA will leverage existing electronic reporting and data tracking systems used in prior AIM Act rules and the GHGRP to collect, track, and store information proposed to be required under this ICR. The systems are designed to collect and store CBI in compliance with U.S. government security standards.
EPA will also develop an identification system to allow for the tracking of containers of regulated HFCs. This tracking system will allow anyone buying or selling HFCs to determine whether the material they are purchasing and selling was produced, imported, reclaimed, or recycled legally.
The burden on small entities has been reduced to every extent possible including collecting reports from entities as far “upstream” as possible (e.g., equipment owner or operator) and using existing reporting infrastructure and data elements from prior AIM Act rules and Section 608 of the Clean Air Act.
The following information is proposed to be required on a specific collection schedule:
Fire suppression agent reports are submitted to EPA annually (by February 14);
Chronic leak reports, when required, are submitted to EPA by March 1 following the calendar year of the ≥125 percent leak; and
Persons buying and distributing/selling or offering for distribution/sale must scan the machine-readable tracking identifier affixed to cylinders at the time of distribution/sale or purchase.
The remaining reports are submitted to EPA on an as-needed basis.
This section presents EPA’s estimates of the burden and costs to respondents associated with the activities described in Section 4 of this document, as well as the federal burden hours and costs associated with the activities described in Section 5 of this document. Additionally, the proposed requirements related to the use of reclaimed material are expected to reduce burden for reclaimers; therefore, these estimated reductions in burden and costs are presented separately in Table VI and Table VII and are reflected in the overall incremental burden and costs associated with this ICR.
EPA identified 23 information collection activities that are mandated by EPA’s rulemaking. EPA estimated the amount of time associated with each activity based on EPA’s experience collecting similar activity data on HFCs under 40 CFR part 84 and ODS under 40 CFR part 82. This analysis assumes that all respondent burden hours are incurred by owners, operators, managers, technicians, marketing staff, and graphic design staff at companies or facilities that submit reports and use applicable equipment. Table III below summarizes the number of burden hours incurred by each respondent for each information collection activity.
To determine respondent costs, an average hourly wage rate of $26.29 for refrigeration and air conditioning equipment technicians, the mean hourly wage rate for heating, air-conditioning, and refrigeration mechanics and installers, was derived from the Bureau of Labor Statistics (BLS) Occupational Employment and Wages Statistics, May 2021. An average hourly wage rate of $47.93 for owners/operators, the mean hourly wage rate for health and safety engineers, was derived from the BLS Occupational Employment and Wage Statistics, May 2021. A 110 percent increase was added to reflect the estimated additional costs for overhead, which increased the wage rates to
$55.21 and $100.65 per hour for technical staff and owners/operators, respectively. Burden hours were multiplied by the labor rate to determine respondent costs.
In addition, an average hourly wage rate of $46.55 for reclaimer technicians, the median hourly wage rate for environmental engineers, was derived from the BLS Occupational Employment and Wages Statistics, May 2021. An average hourly wage rate of $49.25 for managers, the median hourly wage rate for management occupations, was derived from the BLS Occupational Employment and Wage Statistics, May 2021. An average hourly wage rate of $17.81 for clerical staff, the median hourly wage rate for general office clerks, was derived from the BLS Occupational Employment and Wages Statistics, May 2021. An average hourly wage rate of $61.54 for lawyers, the median hourly wage rate for lawyers, was derived from the BLS Occupational Employment and Wage Statistics, May 2021. A 110 percent increase was added to reflect the estimated additional costs for overhead, which increased the wage rates to $97.76, $103.43, $37.40, and $129.23 per hour for technicians, managers, clerical staff, and lawyers, respectively. Avoided burden hours were multiplied by the labor rate to determine the reduction in respondent costs associated with this rulemaking provision.
Finally, an average hourly wage rate of $64.92 for marketing staff, the median hourly wage rate for marketing managers, was derived from the BLS Occupational Employment and Wages Statistics, May 2021. An average hourly wage rate of $24.38 for graphic design staff, the median hourly wage rate for graphic designers, was derived from the BLS Occupational Employment and Wage Statistics, May 2021. A 110 percent increase was added to reflect the estimated additional costs for overhead, and a 31.2 percent increase was added to reflect the estimated additional fringe costs,
which increased the wage rates to $178.87 and $67.17 per hour for marketing staff and graphic design staff, respectively. Burden hours were multiplied by the labor rate to determine respondent costs.
Table V below summarizes annual labor and recordkeeping and reporting costs for each respondent by information collection activity. Costs are calculated by multiplying burden hours per response by the number of responses per year by the assumed hourly wage rates of staff. The number of responses per year are based on the reporting frequency of each activity (as outlined in Table II), market research on the affected industries, and EPA’s experience collecting data under 40 CFR part 84 and 40 CFR part 82.
EPA identified seven activities incurred by the federal government associated with this data collection request. Burden associated with each activity is based on EPA’s experience with reporting and data collection of HFCs and ODS. The number of occurrences of each activity is based on the estimated number of responses per year for each year of this ICR (as discussed further in section (d) below).
The average hourly rates for EPA technical and managerial staff of $49.68 and $69.06, respectively, are derived from the 2021 annual base pay table, which was retrieved from the Office of Personnel Management website. The rate for technical staff is based on a GS-13 step 1 salary and the rate for managerial staff is based on a GS-15 step 1 salary. These rates were then multiplied by the standard government benefits multiplication factor of 1.6 to get hourly rates of $79.49 for technical staff and
$110.50 for managerial staff. Table IV summarizes total agency burden and costs by activity.
The respondent universe for this ICR is based on a review of data collected under Section 608 of the Clean Air Act, equipment modeled in EPA’s Vintaging Model, and market research on the affected industries. In total, EPA estimates 851,304 unique respondents are subject to the information collection proposed requirements outlined in this ICR. This estimate takes into account the fact that the respondent types specified in Table II are not mutually exclusive, meaning a given respondent may be subject to more than one information collection activity.
Table VI summarizes the total number of respondents per activity per year as well as total burden hours and costs per year. The number of respondents per activity per year varies across the three years covered by this ICR due to the variable leak repair and cylinder tracking proposed requirements. Total respondent burden hours and costs are derived by multiplying the number of respondents per activity by total hours and total costs per respondent per year (see Table III).
Respondent Type |
Activity |
Affected Equipment |
Responses per Respondent per Year |
Labor Hours per Respondent per Year |
Labor Cost per Respondent per Year |
|
Prepare and submit leak repair extension requests |
15-50 pounds |
1 |
0.5 |
$50.33 |
>50 pounds |
1 |
0.5 |
$50.33 |
||
|
Prepare and submit retrofit/retirement extension requests |
15-50 pounds |
1 |
0.5 |
$50.33 |
>50 pounds |
1 |
0.5 |
$50.33 |
||
|
Prepare and submit requests for relief from retrofit/retirement |
15-50 pounds |
1 |
0.5 |
$50.33 |
|
requirements |
>50 pounds |
1 |
0.5 |
$50.33 |
|
Prepare and submit chronic leak reports |
15-50 pounds |
1 |
1.0 |
$100.65 |
>50 pounds |
1 |
1.0 |
$100.65 |
||
|
Prepare and submit notifications if excluding purged refrigerants |
15-50 pounds |
1 |
0.03 |
$2.52 |
|
that are destroyed from annual leak rate calculations |
||||
>50 pounds |
1 |
0.03 |
$2.52 |
||
|
Maintain purchase and service records |
15-50 pounds |
3 |
0.025 |
$7.15 |
>50 pounds |
3 |
0.025 |
$7.15 |
||
Refrigeration and |
Maintain equipment installation records |
15-50 pounds |
1 |
0.025 |
$2.52 |
>50 pounds |
1 |
0.025 |
$2.52 |
||
Air Conditioning |
|
||||
|
15-50 pounds |
1 |
8.0 |
$805.22 |
|
Equipment Owners & Operators |
Maintain retrofit and/or retirement plans |
||||
>50 pounds |
1 |
8.0 |
$805.22 |
||
|
Maintain records documenting when the system was mothballed |
15-50 pounds |
1 |
0.025 |
$2.52 |
|
and when it was brought back on-line (i.e., when refrigerant was |
||||
|
added back into the appliance or isolated component of the |
>50 pounds |
1 |
0.025 |
$2.52 |
|
appliance) |
||||
|
Maintain records of purged and destroyed refrigerant if excluding |
15-50 pounds |
1 |
0.025 |
$2.52 |
|
such refrigerant from the leak rate |
>50 pounds |
1 |
0.025 |
$2.52 |
|
Maintain reports on the results of verification tests any time leak |
15-50 pounds |
1 |
0.03 |
$2.52 |
|
rate threshold is exceeded |
>50 pounds |
1 |
0.03 |
$2.52 |
|
Maintain quarterly leak inspection records |
IPR and CRa >500 |
4 |
0.02 |
$6.71 |
|
pounds |
||||
|
Maintain annual leak inspection records |
15-50 pounds |
1 |
0.02 |
$1.68 |
IPR and CR >50 |
1 |
0.02 |
$1.68 |
||
|
|
pounds |
|||
|
Maintain copies of any reports submitted to EPA under the |
15-50 pounds |
1 |
0.02 |
$1.68 |
|
proposed reporting requirements in this action |
>50 pounds |
1 |
0.02 |
$1.68 |
Respondent Type |
Activity |
Affected Equipment |
Responses per Respondent per Year |
Labor Hours per Respondent per Year |
Labor Cost per Respondent per Year |
|
Maintain ALD system records |
>1500 pounds with indirect ALD |
1 |
0.02 |
$1.68 |
Refrigeration and Air Conditioning Equipment Technicians |
Provide leak inspection records to owners/operators |
15-50 pounds |
0.67 |
0.017 |
$0.62 |
>50 pounds |
0.48 |
0.017 |
$0.44 |
||
Provide reports on the results of verification tests any time leak rate threshold is exceeded to owners/operators |
15-50 pounds |
0.67 |
0.017 |
$0.62 |
|
>50 pounds |
0.48 |
0.017 |
$0.44 |
||
Provide invoices to appliance owners/operators |
15-50 pounds |
2.55 |
0.033 |
$4.69 |
|
>50 pounds |
2.13 |
0.033 |
$3.91 |
||
Fire Suppression System Fillers, Servicers, and Agent Recyclers |
Prepare and submit annual report |
Fire Suppression Equipment |
1 |
9.4 |
$946.14 |
Maintain records |
1 |
40 |
$4,026.12 |
||
Fire Suppression Agent Recyclers |
Register with tracking system |
Cylinders |
1 |
0.5 |
$48.88 |
Enter data into tracking system |
105,882 |
0.006 |
$57,502.75 |
||
HFC Producers |
Register with tracking system |
1 |
0.5 |
$48.88 |
|
Enter data into tracking system |
26 |
2.0 |
$5,083.26 |
||
HFC Importers |
Register with tracking system |
1 |
0.5 |
$48.88 |
|
Enter data into tracking system |
26 |
2.0 |
$5,083.26 |
||
HFC Fillers and Packagers |
Register with tracking system |
1 |
0.5 |
$48.88 |
|
Enter data into tracking system |
52,941 |
0.006 |
$28,751.37 |
||
HFC Reclaimers |
Register with tracking system |
1 |
0.5 |
$48.88 |
|
Enter data into tracking system |
105,882 |
0.006 |
$57,502.75 |
||
One-time label redesign |
1 |
9.0 |
$995.48 |
||
Maintain records |
1 |
40 |
$1,496.04 |
||
HFC Suppliers |
Register with tracking system |
1 |
0.5 |
$48.88 |
|
Enter data into tracking system |
1,013 |
0.003 |
$275.07 |
a IPR = industrial process refrigeration; CR = commercial refrigeration.
Table IV. Agency Burden and Cost Table
Activity |
Agency Hours per Activity |
Number of Activities |
Total Hours |
Total Cost |
||||||
Y1 |
Y2 |
Y3 |
Y1 |
Y2 |
Y3 |
Y1 |
Y2 |
Y3 |
||
Review leak repair extension requests |
0.25 |
275 |
285 |
294 |
69 |
71 |
74 |
$5,460 |
$5,656 |
$5,850 |
Review retrofit/retirement extension requests |
1.0 |
55 |
57 |
59 |
55 |
57 |
59 |
$4,368 |
$4,525 |
$4,680 |
Review requests for relief from retrofit/retirement requirements |
0.08 |
172 |
178 |
184 |
14 |
15 |
15 |
$1,141 |
$1,179 |
$1,217 |
Review chronic leak reports |
0.5 |
365 |
378 |
390 |
183 |
189 |
195 |
$14,517 |
$15,007 |
$15,492 |
Review notifications if excluding purged refrigerants that are destroyed from annual leak rate calculations |
0.5 |
7 |
8 |
8 |
4 |
4 |
4 |
$298 |
$309 |
$319 |
Review annual fire suppression reports |
0.5 |
20 |
20 |
20 |
10 |
10 |
10 |
$795 |
$795 |
$795 |
Develop and maintain a Tracking ID system |
15,120 |
1.0 |
1.0 |
0.75 |
15,120 |
15,120 |
11,340 |
$1,817,964 |
$1,817,964 |
$1,363,473 |
Table V. Respondent Burden and Cost Table
Respondent Type |
Activity |
Affected Equipment |
Respondents per Activity per Year |
Total Hours per Year |
Total Cost per Year |
||||||
Y1 |
Y2 |
Y3 |
Y1 |
Y2 |
Y3 |
Y1 |
Y2 |
Y3 |
|||
Refrigeration and Air Conditioning Equipment Owners & Operators |
Prepare and submit leak repair extension requests |
15-50 pounds |
137 |
141 |
144 |
68.7 |
70.3 |
71.8 |
$6,914 |
$7,073 |
$7,230 |
>50 pounds |
137 |
144 |
151 |
68.7 |
72.0 |
75.4 |
$6,914 |
$7,252 |
$7,586 |
||
Prepare and submit retrofit/retirement extension requests |
15-50 pounds |
27 |
28 |
29 |
13.7 |
14.1 |
14.4 |
$1,383 |
$1,415 |
$1,446 |
|
>50 pounds |
27 |
29 |
30 |
13.7 |
14.4 |
15.1 |
$1,383 |
$1,450 |
$1,517 |
||
Prepare and submit requests for relief from retrofit/retirement requirements |
15-50 pounds |
101 |
103 |
105 |
50.3 |
51.4 |
52.6 |
$5,061 |
$5,177 |
$5,292 |
|
>50 pounds |
72 |
75 |
79 |
35.8 |
37.6 |
39.3 |
$3,605 |
$3,781 |
$3,955 |
||
Prepare and submit chronic leak reports |
15-50 pounds |
213 |
218 |
223 |
213 |
218 |
223 |
$21,471 |
$21,964 |
$22,454 |
|
>50 pounds |
152 |
159 |
167 |
152 |
159 |
167 |
$15,294 |
$16,042 |
$16,780 |
||
Prepare and submit notifications if excluding purged refrigerants that are destroyed from annual leak rate calculations |
15-50 pounds |
4 |
4 |
4 |
0.09 |
0.10 |
0.10 |
$9 |
$10 |
$10 |
|
>50 pounds |
4 |
4 |
4 |
0.09 |
0.10 |
0.10 |
$9 |
$10 |
$10 |
||
Maintain purchase and service records |
15-50 pounds |
268,969 |
275,140 |
281,274 |
19,111 |
19,549 |
19,985 |
$1,923,576 |
$1,967,706 |
$2,011,573 |
|
>50 pounds |
224,325 |
235,288 |
246,121 |
15,939 |
16,718 |
17,488 |
$1,604,295 |
$1,682,701 |
$1,760,174 |
||
Maintain equipment installation records |
15-50 pounds |
51,283 |
52,460 |
53,629 |
1,282 |
1,311 |
1,341 |
$129,046 |
$132,006 |
$134,949 |
|
>50 pounds |
112,829 |
118,343 |
123,792 |
2,821 |
2,959 |
3,095 |
$283,914 |
$297,790 |
$311,500 |
||
Maintain retrofit and/or retirement plans |
15-50 pounds |
2,011 |
2,057 |
2,103 |
16,090 |
16,459 |
16,826 |
$1,619,492 |
$1,656,646 |
$1,693,578 |
|
>50 pounds |
1,433 |
1,503 |
1,572 |
11,461 |
12,021 |
12,575 |
$1,153,592 |
$1,209,971 |
$1,265,679 |
||
Maintain records documenting when the system was mothballed and when it was brought back on-line (i.e., when refrigerant was added back into the appliance or isolated component of the appliance) |
15-50 pounds |
40 |
41 |
42 |
1.01 |
1.03 |
1.05 |
$101 |
$104 |
$106 |
|
>50 pounds |
29 |
30 |
31 |
0.72 |
0.75 |
0.79 |
$72 |
$76 |
$79 |
||
Maintain records of purged and destroyed refrigerant if excluding such refrigerant from the leak rate |
15-50 pounds |
4 |
4 |
4 |
0.09 |
0.10 |
0.10 |
$ 9 |
$10 |
$10 |
|
>50 pounds |
4 |
4 |
4 |
0.09 |
0.10 |
0.10 |
$ 9 |
$10 |
$10 |
||
|
15-50 pounds |
201,123 |
205,737 |
210,324 |
5,028 |
5,143 |
5,258 |
$506,091 |
$517,702 |
$529,243 |
Respondent Type |
Activity |
Affected Equipment |
Respondents per Activity per Year |
Total Hours per Year |
Total Cost per Year |
||||||
Y1 |
Y2 |
Y3 |
Y1 |
Y2 |
Y3 |
Y1 |
Y2 |
Y3 |
|||
|
Maintain reports on the results of verification tests any time leak rate threshold is exceeded |
>50 pounds |
143,263 |
150,265 |
157,184 |
3,582 |
3,757 |
3,930 |
$360,497 |
$378,116 |
$395,525 |
Maintain quarterly leak inspection records |
IPR and CR >500 pounds |
49,373 |
51,786 |
54,170 |
3,292 |
3,452 |
3,611 |
$331,300 |
$347,491 |
$363,490 |
|
Maintain annual leak inspection records |
15-50 pounds |
201,123 |
205,737 |
210,324 |
3,352 |
3,429 |
3,505 |
$337,394 |
$345,135 |
$352,829 |
|
IPR and CR >50 pounds |
130,920 |
137,319 |
143,641 |
2,182 |
2,289 |
2,394 |
$219,625 |
$230,359 |
$240,965 |
||
Maintain copies of any reports submitted to EPA under the proposed reporting requirements in this action |
15-50 pounds |
482 |
494 |
505 |
8.0 |
8.2 |
8.4 |
$809 |
$828 |
$846 |
|
>50 pounds |
392 |
411 |
430 |
6.5 |
6.9 |
7.2 |
$658 |
$690 |
$722 |
||
Maintain ALD system records |
IPR and CR >1500 pounds with indirect ALD |
24,658 |
25,863 |
27,054 |
411 |
431 |
451 |
$41,365 |
$43,386 |
$45,384 |
|
Refrigeration and Air Conditioning Equipment Technicians |
Provide leak inspection records to owners/operators |
15-50 pounds |
300,000 |
306,882 |
313,724 |
3,352 |
3,429 |
3,505 |
$185,064 |
$189,309 |
$193,529 |
>50 pounds |
300,000 |
314,662 |
329,149 |
2,388 |
2,504 |
2,620 |
$131,824 |
$138,267 |
$144,632 |
||
Provide reports on the results of verification tests any time leak rate threshold is exceeded to owners/operators |
15-50 pounds |
300,000 |
306,882 |
313,724 |
3,352 |
3,429 |
3,505 |
$185,064 |
$189,309 |
$193,529 |
|
>50 pounds |
300,000 |
314,662 |
329,149 |
2,388 |
2,504 |
2,620 |
$131,824 |
$138,267 |
$144,632 |
||
Provide invoices to appliance owners/operators |
15-50 pounds |
300,000 |
306,882 |
313,724 |
25,481 |
26,066 |
26,647 |
$1,406,797 |
$1,439,071 |
$1,471,152 |
|
>50 pounds |
300,000 |
314,662 |
329,149 |
21,252 |
22,290 |
23,317 |
$1,173,292 |
$1,230,634 |
$1,287,294 |
||
Fire Suppression System Fillers, Servicers, and Agent Recyclers |
Prepare and submit annual report |
HFC Fire Suppression |
20 |
20 |
20 |
188 |
188 |
188 |
$9,011 |
$9,011 |
$9,011 |
Maintain records |
20 |
20 |
20 |
800 |
800 |
800 |
$38,344 |
$38,344 |
$38,344 |
||
Fire Suppression Agent Recyclers |
Register with tracking system |
Cylinders |
1 |
3 |
1 |
0.5 |
1.5 |
0.5 |
$24 |
$72 |
$24 |
Enter data into tracking system |
1 |
4 |
4 |
588 |
2,353 |
2,353 |
$28,194 |
$112,776 |
$112,776 |
||
HFC Producers |
Register with tracking system |
10 |
1 |
1 |
5.0 |
0.5 |
0.5 |
$240 |
$24 |
$24 |
|
Enter data into tracking system |
10 |
10 |
10 |
520 |
520 |
520 |
$24,924 |
$24,924 |
$24,924 |
||
HFC Importers |
Register with tracking system |
75 |
1 |
1 |
37.5 |
0.5 |
0.5 |
$1,797 |
$24 |
$24 |
|
Enter data into tracking system |
75 |
75 |
75 |
3,900 |
3,900 |
3,900 |
$186,927 |
$186,927 |
$186,927 |
||
HFC Fillers and Packagers |
Register with tracking system |
13 |
37 |
1 |
7 |
18.5 |
0.5 |
$312 |
$887 |
$24 |
|
Enter data into tracking system |
13 |
50 |
50 |
3,824 |
14,706 |
14,706 |
$183,261 |
$704,851 |
$704,851 |
Respondent Type |
Activity |
Affected Equipment |
Respondents per Activity per Year |
Total Hours per Year |
Total Cost per Year |
||||||
Y1 |
Y2 |
Y3 |
Y1 |
Y2 |
Y3 |
Y1 |
Y2 |
Y3 |
|||
HFC Reclaimers |
Register with tracking system |
|
8 |
23 |
1 |
4.0 |
11.5 |
0.5 |
$192 |
$551 |
$24 |
Enter data into tracking system |
8 |
31 |
31 |
4,706 |
18,235 |
18,235 |
$225,552 |
$874,015 |
$874,015 |
||
One-time label redesign |
31 |
0 |
0 |
279 |
0 |
0 |
$ 13,372 |
$0 |
$0 |
||
Maintain records |
0 |
31 |
31 |
0 |
1,240 |
1,240 |
$0 |
$59,433 |
$59,433 |
||
HFC Suppliers |
Register with tracking system |
2,500 |
7,500 |
1 |
1,250 |
3,750 |
1 |
$59,913 |
$179,738 |
$24 |
|
Enter data into tracking system |
2,500 |
10,000 |
10,000 |
7,035 |
28,139 |
28,139 |
$337,174 |
$1,348,697 |
$1,348,697 |
As shown in Table VI, EPA estimates the total annual hour and cost burden to all respondents to average 202,939 hours and $14,779,827.
Year |
Total Responses |
Total Hours |
Total Labor Costs |
Year 1 |
8,739,279 |
166,538 |
$12,896,991 |
Year 2 |
21,214,466 |
222,260 |
$15,740,028 |
Year 3 |
21,366,296 |
223,432 |
$15,966,834 |
Annual Average |
17,106,680 |
204,077 |
$14,867,951 |
Average Annual Avoided Reclaimer Burden and Costs |
452 |
-1,138 |
-$88,124 |
Incremental ICR Burden and Costs |
17,107,132 |
202,939 |
$14,779,827 |
As shown in Table VII, EPA estimates the total annual hour and cost burden to the Agency to average 14,204 hours and $1,693,793.
Year |
Total Hours |
Total Costs |
Year 1 |
15,454 |
$1,844,543 |
Year 2 |
15,466 |
$1,845,434 |
Year 3 |
11,697 |
$1,391,827 |
Annual Average |
14,206 |
$1,693,935 |
Average Annual Avoided Reclaimer Burden and Costs |
-2 |
-$141 |
Annual Average with Avoided Burden and Costs |
14,204 |
$1,693,793 |
This is a new information collection request.
The public reporting burden for this collection of information is estimated to average 0.01 hours per response. Burden means the total time, effort, or financial resources expended by persons to generate, maintain, retain, or disclose or provide information to or for a Federal agency. This includes the time needed to review instructions; develop, acquire, install, and utilize technology and systems for the purposes of collecting, validating, and verifying information, processing and maintaining information, and disclosing and providing information; adjust the existing ways to comply with any previously applicable instructions and requirements; train personnel to be able to respond to a collection of information; search data sources; complete and review the collection
of information; and transmit or otherwise disclose the information. An agency may not conduct or sponsor, and a person is not required to respond to, a collection of information unless it displays a currently valid OMB control number. The OMB control numbers for EPA's regulations are listed in 40 CFR Part 9 and 48 CFR Chapter 15.
Page
File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
Author | WCHANG |
File Modified | 0000-00-00 |
File Created | 2023-10-29 |