4.3    Cooling Equipment

This section addresses the requirements for space-cooling equipment.

4.3.1      Mandatory Measures for Cooling Equipment

4.3.1.1    Equipment Efficiency

§110.1 and §110.2(a)

The efficiency of most cooling equipment is regulated by NAECA (the federal appliance standard) and the California Appliance Efficiency Regulations. These regulations are not contained in the Energy Code but are referenced in §110.1. The energy efficiency of larger equipment is regulated by §110.2(a). See the Nonresidential Compliance Manual for information on larger equipment.

A.    Central, Single-Phase Air Conditioners and Air Source Heat Pumps (Under 65,000 Btu/h)

The central, single-phase air conditioners and air source heat pumps that are most commonly installed in homes have a capacity less than 65,000 Btu/h. The Appliance Efficiency Regulations for this equipment require minimum seasonal energy efficiency ratios (SEER).

The SEER of all new central, single-phase air conditioners and air source heat pumps with output less than 65,000 Btu/h shall be certified to the Energy Commission to have values no less than the values listed in Table 4-6.

Table 4-6: Minimum Cooling Efficiencies for Central Air Conditioners and Heat Pumps
(Cooling Capacity Less Than 65,000 Btu/h) (NR = No Requirement)

Appliance

Type

SEER

EER

Central
Air Conditioners

Split-System

<45,000 Btu/h

14.0

12.2

Central
Air Conditioners

Split-System

45,000 Btu/h

14.0

11.7

Central
Air Conditioners

Single-Package

14.0

11.0

Central Air Source Heat Pumps

Split-System

14.0

NR

Central Air Source Heat Pumps

Single-Package

14.0

NR

Space-Constrained Air Conditioner

Split-System

12.0

NR

Space-Constrained Air Conditioner

Single-Package

12.0

NR

Space-Constrained Heat Pump

Split-System

12.0

NR

Space-Constrained Heat Pump

Single-Package

12.0

NR

Small-Duct, High-Velocity Air Conditioner

All

12.0

NR

Small-Duct, High-Velocity Heat Pump

All

12.0

NR

Source: California Appliance Efficiency Regulations, Title 20, Table C-3 and Federal Appliance Standards (NAECA)

B.    Other Air Conditioners and Heat Pumps

Appliance Efficiency Regulations

The current Appliance Efficiency Regulations for three-phase models, larger-capacity central air conditioners and heat pumps, and all room air conditioners and room air conditioner heat pumps shall be certified to the Energy Commission by  the manufacturer to have values no less than the values listed in Table 4-7 and. Table 4-8

Table 4-7: Minimum Cooling Efficiency for Three-Phase Models and Larger
Capacity Central Air Conditioners and Heat Pumps

Equipment Type

Size Category (Btu/h)

SEER or EER

Central Air-Conditioners

< 65,000 Split-System

13.0 SEER

Central Air-Conditioners

< 65,000 Single-Packaged

14.0 SEER

Central Air-Conditioners

≥65,000 but
<135,000

11.21 EER

11.02 EER

Central Air-Conditioners

≥135,000 but
<240,000

11.01 EER

10.82 EER

Central Air-Conditioners

≥240,000 but
<760,000

10.01 EER

9.82 EER

Central Air-Source Heat Pumps

< 65,000 Split-System

14.0 SEER

Central Air-Source Heat Pumps

< 65,000 Single-Packaged

14.0 SEER

Central Air-Source Heat Pumps

≥ 65,000 but
<135,000

11.01 EER

10.82 EER

Central Air-Source Heat Pumps

≥135,000 but
<240,000

10.61 EER

10.42 EER

Central Air-Source Heat Pumps

≥240,000 but
<760,000

9.51 EER

9.32 EER

Central Water-Source Heat Pumps

< 17,000

12.2 EER

Central Water-Source Heat Pumps

≥ 17,000 and
< 65,000

13.0 EER

Central Water-Source Heat Pumps

≥ 65,000 and
< 135,000

13.0 EER

Central Water-Source Heat Pumps

≥ 135,000 and
< 240,000

12.5 EER

Central Water-Source Heat Pumps

≥ 240,000 and
< 760,000

12.4 EER

Water-Cooled Air Conditioners

< 17,000

12.2 EER

Water-Cooled Air Conditioners

≥ 17,000
< 65,000

13.0 EER

Water-Cooled Air Conditioners

≥ 65,000 and
< 135,000

12.13 EER

Water-Cooled Air Conditioners

≥ 135,000 and
< 240,000

12.53 EER

Water-Cooled Air Conditioners

≥ 240,000 and
< 760,000

12.43 EER

* Three-phase models only

1 Applies to equipment that has electric resistance heat or no heating.

2 Applies to equipment with all other heating-system types that are integrated into the unitary equipment.

3 Deduct 0.2 from the required EER for units with heating sections other than electric resistance heat.

Source: California Appliance Efficiency Regulations Table C-4, C-5

 

Table 4-8: Minimum Cooling Efficiency for Noncentral Space-Cooling Equipment

Equipment Type

Size Category (Input)

Minimum Efficiency

Room Air Conditioners,
With Louvered Sides

< 6,000

11.0 EER

Room Air Conditioners,
With Louvered Sides

≥ 6,000 and - 7,999

11.0 EER

Room Air Conditioners,
With Louvered Sides

≥ 8,000 and -13,999

10.9EER

Room Air Conditioners,
With Louvered Sides

≥ 14,000 and - 19,999

10.7 EER

Room Air Conditioners,
With Louvered Sides

≥ 20,000 and 27,999

9.4 EER

Room Air Conditioners,
With Louvered Sides

≥ 28,000

9.0 EER

Room Air Conditioners,
Without Louvered Sides

< 6,000

10.0 EER

Room Air Conditioners,
Without Louvered Sides

≥ 6,000 and - 7,999

10.0 EER

Room Air Conditioners,
Without Louvered Sides

≥ 8,000 and - 10,999

9.6 EER

Room Air Conditioners,
Without Louvered Sides

 11,000 and - 13,999

9.5 EER

Room Air Conditioners,
Without Louvered Sides

≥ 14,000 nd - 19,999

9.3 EER

Room Air Conditioners,
Without Louvered Sides

≥ 20,000

9.4 EER

Room Air Conditioner Heat Pumps With Louvered Sides

< 20,000

9.8 EER

Room Air Conditioner Heat Pumps With Louvered Sides

≥ 20,000

9.3 EER

Room Air Conditioner Heat Pumps Without Louvered Sides

< 14,000

9.3 EER

Room Air Conditioner Heat Pumps Without Louvered Sides

≥ 14,000

8.7 EER

Casement-Only Room Air Conditioner

All Capacities

9.5 EER

Casement-Slider Room Air Conditioner

All Capacities

10.4 EER

Standard Sized PTAC (cooling mode)

All Capacities

14.0 - (0.300 x Cap/1000) = EER

Non-Standard Sized PTAC (cooling mode)

All Capacities

10.9 - (0.213 x Cap/1000) = EER

Standard Sized PTHP (cooling mode)

All Capacities

14.0 - (0.300 x Cap/1000) = EER

Non-Standard Sized PTHP (cooling mode)

All Capacities

10.8 - (0.213 x Cap/1000) = EER

SPVAC (cooling mode)

< 65,000

11.0 EER

SPVAC (cooling mode)

≥ 65,000 and
< 135,000

10.0 EER

SPVAC (cooling mode)

≥ 135,000 and < 240,000

10.0 EER

SPVHP (cooling mode)

< 65,000 Btu/h

11.0 EER

SPVHP (cooling mode)

≥ 65,000 and
< 135,000

10.0 EER

SPVHP (cooling mode)

≥ 135,000 and < 240,000

10.0 EER

Cap. = Cooling Capacity (Btu/h)

Note: Including room air conditioners and room air conditioner heat pumps, package terminal air conditioners (PTAC), package terminal heat pumps (PTHP), single-package vertical air conditioners (SPVAC), and heat pumps (SPVHP).

Source: California Appliance Efficiency Regulations Title 20, Table B-2, B-3, B-4; Energy Code Title 24, Table 110.2-E

4.3.1.2    Insulation for Refrigerant Lines in Split-System Air Conditioners

§150.0(j)2 and 3, §150.0(m)9

Two refrigerant lines connect the indoor and outdoor units of split-system air conditioners and heat pumps. These are the liquid line (the smaller diameter tube) and the suction line (the larger diameter tube).

If the liquid line remains at an elevated temperature relative to outdoor and indoor temperatures, it should not be insulated. In this situation, the heat loss is helpful.

The suction line carries refrigerant vapor that is cooler than ambient in the summer and (with heat pumps) warmer than ambient in the winter. This line must be insulated to the required thickness (in inches) as specified in Table 4-9.

Table 4 9a: Insulation Requirements for Split-System Refrigerant Piping, Space heating and
Service Water Heating Systems (Steam, Steam Condensate, Refrigerant, Space Heating, Service Hot Water)

Fluid Operating Temperature Range
(°F)

Conductivity
(Btu·in/h·ft2°F)

Mean Rating Temperature
(°F)

Inches normal pipe diameter
<1

Inches normal pipe diameter
1 to <1.5

105-140

0.22-0.28

100

1.0 inches1

1.5 inches1

105-140

0.22-0.28

100

R 7.7

R 12.5

1.     These thicknesses are based on energy efficiency considerations only. Issues such as water vapor permeability or surface condensation sometimes require vapor retarders or additional insulation.

Source: Table 120.3-A|topic=Table 120.3-A PIPE INSULATION THICKNESS of the Energy Code

Table 4 9b: Insulation Requirements for Split-System Refrigerant Piping Space-Cooling Systems
(Chilled Water, Refrigerant and Brine)

Fluid Operating Temperature Range

(°F)

Conductivity
(Btu·in/h·ft2°F)

Mean Rating Temperature
 (°F)

Inches normal pipe diameter
<1

Inches normal pipe diameter
1 to <1.5

Residential

40-60

0.21-0.27

75

0.75 inches1

0.75 inches1

Residential

40-60

0.21-0.27

75

R-6

R-5

Nonresidential

40-60

0.21-0.27

75

0.50 inches1

0.50 inches1

Nonresidential

40-60

0.21-0.27

75

R-3

R-3

Below 40

0.20-0.26

50

1.0 inches1

1.5 Inches1

Below 40

0.20-0.26

50

R-8.5

R-14

1. These thicknesses are based on energy efficiency considerations only. Issues such as water vapor permeability or surface condensation sometimes require vapor retarders or additional insulation.

Source: Table 120.3-A|topic=Table 120.3-A PIPE INSULATION THICKNESS of the Energy Code

Insulation used for refrigerant suction lines located outside a condition space, must include a Class I or Class II vapor retarder. The vapor retarder and insulation must be protected from physical damage, UV deterioration, and moisture with a covering that can be removed for equipment maintenance without destroying the insulation. Insulation is typically protected by aluminum, sheet metal jacket, painted canvas, or plastic cover. Adhesive tape should not be used as insulation protection because removal of the tape will damage the integrity of the original insulation during preventive maintenance.

Figure 4-1: Refrigerant Line Insulation

Figure showing refrigerant line insulation

Source: Airex Manufacturing Inc.

4.3.1.3    Outdoor Condensing Units

§150.0(h)3

Any obstruction of the airflow through the outdoor unit of an air conditioner or heat pump lowers efficiency. Dryer vents are prime sources for substances that clog outdoor coils and sometimes discharge substances that can cause corrosion. Therefore, condensing units shall not be placed within 5 feet of a dryer vent. This requirement is applicable to new installations and to replacements. Regardless of location, condenser coils should be cleaned regularly in all homes. The manufacturer installation instructions may include requirements for minimum horizontal and vertical distance to surrounding objects that should be met if greater than the minimum distance required by the Energy Code.

Figure 4-2: Noncompliant Condensing Unit Clearance from Dryer Vents

Part 1 of 2 figures- Figure 1 showing noncompliant condensing unit clearance from a dryer ventPart 2 of 2 figures- showing a noncompliant condensing unit clearance from a dryer vent at a different angle

Source: California Energy Commission

Liquid line filter driers are components of split system air-conditioners and split system heat pumps that are installed in the refrigerant line to remove moisture and particles, from the refrigerant stream. These contaminates may be introduced in the refrigerant as a result of improper flushing, evacuation, and charging procedures, causing the efficiency and capacity of the air conditioner to be impaired, or damaging components. If required by manufacturer’s instructions, liquid line filter dryers must be installed. Sometimes, liquid line filter dryers are preinstalled by manufacturers within condensing units, which makes it difficult for technicians to access. Because of this difficulty, manufacturers have begun changing this practice by installing liquid line filter dryers outside condensers, so that they can be easily serviced by technicians and more easily verified by HERS Raters.

The quality of the filter dryer installation impacts the effectiveness of the liquid line filter dryer, as some liquid line filter dryers can be installed without regard to the direction of refrigerant flow. Heat pumps, for example, allow refrigerant flow in both directions. However, in other air conditioners where refrigerant flow occurs in only one direction, correct orientation of the liquid line filter dryer is important.

4.3.1.4    Equipment Sizing

§150.0(h)

Similar to heating equipment, the Energy Code does not set limits on the size of cooling equipment, but does require that cooling loads be calculated for new cooling systems. Avoid oversizing the cooling components since oversizing may adversely affect the efficiency of the system. Ducts must be sized correctly, otherwise the system airflow rate may be restricted, adversely affecting the efficiency of the system and preventing the system from meeting the mandatory minimum airflow rate requirements.

The outdoor design conditions for load calculations must be selected from JA2, Table 2-3, using values no greater than the “1.0 percent cooling dry bulb” and “mean coincident wet bulb” values listed. The indoor design temperature for cooling load calculations must be 75°F. Acceptable load calculation procedures include methods described in:

1.    The ASHRAE Handbook – Equipment

2.    The ASHRAE Handbook – Applications

3.    The ASHRAE Handbook – Fundamentals

4.    The SMACNA Residential Comfort System Installation Manual.

5.    ACCA Manual J

Cooling load calculations must be submitted with compliance documentation when requested by the building department. The load calculations may be prepared by 1) a mechanical engineer, 2) the mechanical contractor who is installing the equipment or 3) someone who is qualified to do so in the State of California according to Division 3 of the Business and Professions Code.

4.3.1.5    Hole for Static Pressure Probe (HSPP) or Permanently Installed Static Pressure Probe (PSPP)

§150.0(m)13

Space-conditioning systems that use forced air ducts to cool occupiable space shall have a hole for the placement of a static pressure probe (HSPP) or permanently installed static pressure probe (PSPP) installed downstream from the evaporator coil.

The HSPP or PSPP must be installed in the required location, in accordance with the specifications detailed in Reference Residential Appendix (RA) RA3.3. The HSPP or PSPP is required to promote system airflow measurement when using devices/procedures that depend on supply plenum pressure measurements. The HSPP or PSPP allows HERS Raters to perform the required diagnostic airflow testing in a nonintrusive manner, by eliminating the necessity for the raters to drill holes in the supply plenum for placement of pressure measurement probes.

The size and placement of the HSPP/PSPP shall be in accordance with RA3.3.1.1 and shall be verified by a HERS Rater. In the event that the HSPP/PSPP cannot be installed as shown in Figure RA3.3-1 because of the configuration of the system or that the location is not accessible, an alternative location may be provided that can accurately measure the average static pressure in the supply plenum. If an alternative location cannot be provided, then the HSPP/PSPP is not required to be installed. The HERS Rater will verify this. Not installing an HSPP/PSPP will limit the airflow measurement method to either a powered flow hood or passive (traditional) flow hood.

When the mandatory measure for minimum system airflow rate is in effect (entirely new systems), there must be a hole in the supply plenum, provided by the installing contractor, for the placement of a static pressure probe (HSPP). Alternatively, a permanently installed static pressure probe (PSPP) must be installed in the same location.

This requirement also applies when the plenum pressure matching method or the flow grid method of airflow measurement is used by either the installer or the rater to verify airflow in an altered system. The HSPP/PSPP must be installed by the installer, not the rater.

See Air Distribution Ducts, Plenums, and Fans Section 4.4 for discussion regarding mandatory sizing/airflow requirements for ducted systems with cooling.

4.3.2      Prescriptive Requirements for Cooling Equipment

§150.1(c)7

Prescriptive compliance does not require that a cooling system be installed. However, if one is to be installed, the cooling equipment efficiency requirements are specified by the mandatory measures (See Section 4.3.1 above)

Prescriptive requirements for air-cooled air conditioners and air-source heat pumps installed in Climate Zones 2 and 8 through 15 necessitates the installation of a measurement access hole (MAH), refrigerant charge verification (RCV), and minimum system airflow verification. The minimum system airflow installation and RCV must be performed by the installer and/or HERS Rater. The MAH provides a nonintrusive means of measuring return air temperature, which is a parameter important to the RCV process. The alternative to RCV by a HERS Rater is the installation of a refrigerant fault indicator display. When installing a fault indicator display, the installer must still perform a RCV.

Note: The refrigerant charge verification is discussed below (4.3.2.3) and in greater detail later in Section 4.8.

4.3.2.1    Measurement Access Hole (MAH)

The MAH provides a nonintrusive means for refrigerant charge verification by HERS Raters and other third-party inspectors. They eliminate the need for raters/inspectors to drill holes into the installed air conditioning equipment enclosures for placement of the temperature sensors required by the refrigerant charge verification test procedures described in RA3.2.

Installation of MAH must be performed by the installer of the air conditioner or heat pump equipment according to the specifications given in RA3.2.

The MAH feature consists of one 5/8-inch (16 millimeters [mm]) diameter hole in the return plenum, upstream from the evaporator coil. (See Figure RA3.2-1)

4.3.2.2    Minimum System Airflow

Ducted forced air cooling systems must comply with the minimum system airflow rate of greater than or equal to 350 CFM per ton, or 250 CFM/ton for small duct, high velocity systems, when performing the refrigerant charge verification. The airflow is important when performing the refrigerant charge verification to validate the measured values for pressure and temperature. The correct airflow will also improve the performance of the air-conditioning equipment.

The airflow verification procedure is documented in RA3.3.

4.3.2.3    Refrigerant Charge Verification (RCV)

The prescriptive standards for Climate Zones 2 and 8-15 require that a HERS rater verify that ducted air-cooled air conditioners, ducted air-source heat pumps, small-duct high-velocity systems; and mini-split systems have the correct refrigerant charge. The RCV procedures are documented in RA 1.2, RA2., 4.4, and RA3.2.

Refrigerant charge refers to the actual amount of refrigerant present in the system. Excessive refrigerant charge (overcharge) reduces system efficiency and can lead to premature compressor failure. Insufficient refrigerant charge (undercharge) also reduces system efficiency and can cause compressors to overheat. Ensuring correct refrigerant charge can significantly improve the performance of air-conditioning equipment. Refrigerants are the working fluids in air-conditioning and heat-pump systems that absorb heat energy from one area (through the evaporator), transfer, and reject it to another (through the condenser).

4.3.2.4    Fault Indicator Display

The installation of a fault indicator display (FID) may be used as an alternative to the prescriptive requirement for HERS diagnostic testing of the refrigerant charge in air conditioners and heat pumps. The installation of an FID does not preclude the HVAC installer from having to properly charge the system with refrigerant. The FID provides real-time information to the building occupant about the status of the system refrigerant charge, metering device, and system airflow. The FID will monitor and determine the operating performance of air conditioners and heat pumps and provide visual indication to the system owner or operator if the refrigerant charge, airflow, or metering device performance of the system does not conform to approved target parameters for minimally efficient operation. Thus, if the FID signals the owner/occupant that the system requires service or repair, the occupant can immediately call for a service technician to make the necessary adjustments or repairs. An FID can provide significant benefit to the owner/occupant by alerting the owner/occupant to the presence of inefficient operation that could result in excessive energy use/costs over an extended period. An FID can also indicate system performance faults that could result in system component damage or failure if not corrected, thus helping the owner/occupant avoid unnecessary repair costs.

Fault indicator display technologies are expected to be installed at the factory; otherwise, they may be installed in the field according to manufacturer's specifications. JA6 contains more information about FID technologies.

The presence of an FID on a system must be field-verified by a HERS Rater. See RA3.4.2 for the HERS verification procedure, which consists of a visual verification of the presence of the installed FID technology. The rater must inspect to see that the visual indication display component of the installed FID technology is mounted adjacent to the thermostat of the split system. When the outdoor temperature is greater than 55°F, the rater must also observe that the system reports no system faults when the system is operated continuously for at least 15 minutes when the indoor air temperature returning to the air conditioner is at or above 70°F. When the outdoor temperature is below 55°F, the rater must observe that the FID performs a self-diagnosis and indicates that the sensors and internal processes are operating properly.

4.3.3      Performance Compliance Options for Cooling Equipment

There are several options for receiving compliance credit related to the cooling system. These credits are available through the performance compliance method.

4.3.3.1    High-Efficiency Air Conditioner

Air conditioner efficiencies are determined according to federal test procedures. The efficiencies are reported in terms of seasonal energy efficiency ratio (SEER) and energy efficiency ratio (EER). Savings can be achieved by choosing an air conditioner that exceeds the minimum efficiency requirements.

The EER is the full-load efficiency at specific operating conditions. It is possible that two units with the same SEER can have different EERs. In cooling climate zones of California, for two units with a given SEER, the unit with the higher EER is more effective in saving energy. Using the performance compliance method, credit is available for specifying an air conditioner with an EER greater than the minimum (Table 4-6). When credit is taken for a high EER and/or SEER, field verification by a HERS Rater is required. (See RA3.4.4).

4.3.3.2    Air Handler Fan Efficacy and System Airflow

It is mandatory that central forced-air systems operate at fan efficacy values less than or equal to

1.    0.58 watts/CFM for air handlers that are not gas furnaces.

2.    0.45 watts/CFM for gas furnaces.

3.    0.62 watts/CFM for small-duct high-velocity system air handlers.

These central forced-air systems also must operate at airflow rates of at least 350 CFM per nominal cooling ton, or 250 CFM/ton for small-duct high-velocity systems. Performance compliance credits are available for demonstrating the installation of a high-efficiency system with a lower fan wattage and/or higher airflow than the mandatory requirements. Compliance with these credits can be achieved by installing a well-designed duct system and can be assisted by a high-efficiency fan. There are two possible performance compliance credits:

1.    The performance compliance method allows the user’s proposed fan efficacy to be entered and credit earned if it is lower than the default mandatory values. To obtain this credit for a system with cooling, the system airflow must meet the mandatory requirement of at least 350 CFM/ton of nominal cooling capacity.

2.    The performance compliance method allows the user’s proposed system airflow to be entered and credit earned if it is higher than the default of 350 CFM/ton of nominal cooling capacity. To obtain this credit, the fan efficacy must meet the mandatory requirements listed above.

4.3.3.3    Whole-House Fan Ventilation Cooling

A whole-house fan (WHF) is not a mandatory requirement. It is required in some climate zones when using prescriptive compliance. The three performance compliance options are the following:

1.    No WHF is assumed in the performance compliance software (no ventilation cooling). This will be either energy-neutral, or there will be an energy penalty if the applicable climate zone assumes the effects of a WHF.

2.    A default WHF means this proposed feature is equivalent to the standard feature used to establish the energy budget of the building (The performance of the fan is derated to account for deficiencies from installing undersized or inefficiently designed WHF).

3.    The HERS-verified WHF option allows for modeling the effects of the WHF without derating the system performance. The HERS-verified option also allows modeling a WHF with a higher airflow rate or lower fan efficacy than the default, which improves the compliance credit.

4.3.3.4    Central Fan Ventilation Cooling

Central fan ventilation cooling (CFVC) performs a function similar to a WHF using the central space-conditioning ducts to distribute outside air. When using the performance compliance approach, a CFVC system may be selected in the compliance software instead of a conventional whole-house fan. Three compliance options are:

1.    No CFVC is assumed in the performance compliance software (no ventilation cooling). This will be either energy-neutral, or an energy penalty will be assessed if the applicable climate zone assumes the effects of a WHF.

2.    A default CFVC system means the proposed system is equivalent in size and features to a derated WHF.

3.    The HERS verified CFVC system option allows for the effects of the system without derating system performance. It also allows for modeling a system with greater capacity, a higher airflow rate or lower fan efficacy than default.

After installation, the contractor must test the actual fan power and airflow of the system using the procedure in RA3.3 and show that it is equal or better than what was proposed in the compliance software analysis.

Field verification by a HERS Rater is required. (See RA3.3.)