Showing posts with label Austria. Show all posts
Showing posts with label Austria. Show all posts

Monday, March 7, 2022

Building codes should allow wood and pellet heating systems in new construction

Postscript: The IECC voted down an amendment that would have banned wood and pellet heating appliances in new construction.

Testimony of John Ackerly 

President, Alliance for Green Heat

On Amendments to definition of Biomass Waste in the 2021 IECC

IECC committee meeting

March 3, 2022

 

Thank you for the opportunity to comment on the exclusion of woody biomass from the definition of eligible biomass in residential applications in the International Energy Conservation Code (IECC). My name is John Ackerly, and I am the President of the Alliance for Green Heat, an independent non-profit that promotes renewable heating. We do not represent industry but advocate on behalf of consumers and architects who use a wide variety of renewable energy technologies to meet their particular circumstances.

We fully support integrating renewable energy in the IECC do not see a substantial conflict between energy efficiency and renewable energy. Both are essential in new construction and states and countries are demanding attention to both.

I speak in opposition to this amendment because it is internally inconsistent, unworkable, not science based and contrary to the renewable residential heating policies of many states and countries. We strongly disagree that solar PV and battery storage are affordable and efficient way to offset 100 percent of all energy end uses in many colder northern areas at this time. Very sophisticated, modern biomass heaters are being strategically used in state and national renewable energy strategies to alleviate the shortage of renewable electricity, strains on the grid and rising construction and energy costs. The IECC should not be pre-empting the ability of jurisdictions who have studied and tested these modern biomass systems for years and are basing their policies on experience and sound science.

 

The haste with which this IECC committee has developed and addressed this amendment is evident by
An IECC graphic on energy use
in homes and buildings

comments of from committee members. There were several comments referencing biomass issues that are unique to large-scale biomass to electricity when we are addressing biomass heating applications. At other times, several Committee members made the mistake of referring to the release of biomass decades or generations faster if it is burned than if it were left standing. This is true in the biomass to electricity pathway, where whole trees are commonly harvested to make pellets and have no other reason to be harvested. But most biomass used for heating comes from waste biomass, residuals from lumberyards, furniture factories and trees that have already come down for some other reason, and their carbon is only released a year to two before it would be otherwise. 

Confusing largescale biomass to electricity issues with local biomass heating issues is an increasingly common mistake in recent years, but the carbon analysis, emissions, harvesting, sustainability and economics are all very distinct. This indicates some members of your committee may not have the expertise to accurately assess the pros and cons of this amendment. As with solar and wind, this is a highly technical area where the location, deployment and conditions of the technology are vital and can radically change the carbon intensity, the sustainability, and the ROI of a project. We are concerned that this committee may not fully understand the implications of the amendment.

Pellet heating in Europe is an 
integral part of most national
renewable policies

Ironically, restricting the use of biomass in modern high efficiency heating systems may add more incentive to use biomass in very low-efficiency plants to make electricity, which is the opposite direction we need to move. Currently, in the United Kingdom, for example, electricity made from US wood pellets is being used in residential heat pumps to make heat. This puts far more pressure on forests when biomass is used so inefficiently and at scales that may not be sustainable.

 

A few comments on waste wood. A lot of domestical woody biomass is treated, for better or worse, as a waste product. The EPA documented that in 2018, landfills received 12.2 million tons of wood. This was 8.3 percent of all municipal solid waste landfilled that year.[1]

 

The US Forest Service estimates that urban waste wood amounts to be 46 million tons based on annual mortality rates.[2] With emerald ash borer, more frequent storms and natural mortality, cities and states struggle with disposing of wood and instead to produce revenue from it and use it as a renewable resource.

I also hope that this committee has been in touch with your IECC colleagues in Europe. In parts of
Stacking multiple pellet boilers
is a common solution for larger
buildings

Austria, where installing fossil fuel boilers is no longer allowed, highly advanced wood and wood pellet boilers are the norm.[3] In France, where they just banned the new installation of gas heating, modern wood and pellet boilers are also one of the main alternatives.[4] This overview of pellet heating in Europe shows a vibrant and growing renewable heat market. Even in New England, many states provide incentives to install advanced wood and pellet boilers. It’s important to note that premium heating pellets are predominantly made with waste wood, unlike the industrial pellets that are shipped to Europe to massive electric plants.  

To date, the IECC has built expertise on regulating tight-fitting flue dampers or doors and testing and listing requirements for the doors. This process involved years of engagement with key stakeholders but mostly addressed fireplaces.  Fast tracking an exclusion of an important renewable energy appliance is inappropriate.  Such a proposal should involve extensive and thoughtful engagement with stakeholders as well.

Finally, I would also urge you to ensure that you have considered environmental or social justice issues that favoring one technology or fuel above another may raise. Your amendment causes confusion about a fuel - biomass waste - that is often a low-cost fuel relied on by average households. Excluding them in the IECC could cause an additional energy burden on communities and countries that have developed smart strategies to use it wisely.

As a practical matter, few wood or pellet heaters are installed in new construction, but there is absolutely no reason why some of them shouldn’t be. We support restrictions on new installations of modern cordwood stoves in densely populated areas, which usually have access to affordable gas. But even modern cordwood stoves can be practical and strategic in new homes for Native American and low-income rural households who cannot afford fossil fuel heat or other renewable heating. These households often face the “heat or eat” dilemma[5] and the health risks of a cold home are significant. Many of these households would love to be able to flip a switch and use fossil fuel heat, like most people do in North America and likely many people on this committee do too. But that is not an option for them.

We look forward to working with committee members in the future and to provide assistance in any way we can to strengthen the IECC and make strategic use of renewable heating technologies.

Thank you.


[1] https://www.epa.gov/facts-and-figures-about-materials-waste-and-recycling/wood-material-specific-data

[2] https://www.fs.usda.gov/treesearch/pubs/59115

[3] http://www.biomassthermal.org/wp-content/uploads/2017/12/Austria_Biomass_heating_2010.pdf

[4] https://www.thelocal.fr/20220124/france-brings-in-ban-on-gas-boilers-in-housing/

[5] https://inews.co.uk/news/households-facing-heat-or-eat-dilemma-energy-bill-surge-april-1381152, and https://childrenshealthwatch.org/the-heat-or-eat-dilemma/.

Wednesday, January 4, 2017

Residential heating with wood and coal in the US and Europe (excerpts)

This blog contains excerpts from a very important and readable report published by the World Health Organization (WHO) in 2015.  It is primarily from a health and policy perspective and is very valuable for North American as it provides more of a European perspective and is balanced in its approach. The entire 58-page report can be downloaded here

The report is particularly interesting as it hits on many themes that were considered or included in the 2015 EPA wood heater regulations, some of which will be litigated in 2017. It addresses best available technologies, indoor air quality, efficiency standards, stove changeout programs, black carbon, carbon neutrality, HEPA filters and many other issues. One of the overarching conclusions is that national policy should strongly favor pellet over cord wood appliances, a transition that has already occurred in parts of Europe, but not in the US.

Authors include experts from the US, Austria, Canada, Finland and Germany.  This publication was prepared by the Joint WHO/United Nations Economic Commission for Europe (UNECE).

The report describes the health effects of and policy options for dealing with residential heating with wood and coal in Europe and the United States. The results presented indicate that it will be difficult to tackle problems with outdoor air pollution in many parts of the world without addressing this source sector. National, regional and local administrations, politicians and the public at large need a better understanding of the role of wood biomass heating as a major source of harmful outdoor air pollutants (especially fine particles). This report is intended to help increase such an understanding. 

Executive Summary:
Measures are available to reduce emissions of solid fuels for residential heating in most places. Encouraging fuel switching (away from coal and other solid fuels) and use of more efficient heating technologies (such as certified fireplaces or pellet stoves) can reduce the emissions from residential wood and coal heating devices. Educational campaigns may also be useful tools to reduce emissions from residential solid fuel heaters.

Furthermore, filters may reduce health effects from indoor air pollution. Existing regulatory measures include ecodesign regulations and labels in the European Union (EU) and technology based emission limits in the United States of America and Canada. Financial fuel switching and technology changeout incentives – as well as targeted “no burn” days and ecolabelling – are other tools available to policy-makers.

p. 2. Residential heating with wood is a sector in which PM2.5 and BC emissions can potentially be reduced with greater cost– effectiveness than many other emission reduction options. Nevertheless, within Europe and North America only a few countries or states have set legal limits for minimum combustion efficiency or maximum emissions of PM and harmful gaseous compounds like CO and gaseous organic compounds (see section 6).

Coal:
p. 8. In the USA 55% of homes used coal/coke for space heating in 1940, but this fell to 12% in 1960, below 5% in the early 1970s and below 1% from the early 1980s (Schipper et al., 1985; United States Census Bureau, 2011).

One study estimates that reductions in the use of bituminous coal for heating in the USA from 1945–1960 decreased winter all-age mortality by 1% and winter infant mortality by 3%, saving nearly 2000 lives per winter month, including 310 infant lives (Barreca et al., 2014).

Based on this and evidence that indoor emissions from household combustion of coal are carcinogenic to humans, the latest WHO indoor air quality guidelines strongly recommend against the residential use of unprocessed or raw coal, including for heating (WHO, 2014a).

Infiltration of smoke into homes
p. 10. A household with wood-burning appliances is likely to be surrounded by other homes with wood-burning appliances, and wood burning also tends to aggregate temporally; thus, on cold evenings and nights most homes in the area may be burning wood.

Given that most wood burning occurs in cold locations where homes are well insulated, buildings are expected to have low infiltration (meaning that relatively small amounts of outdoor air pollution, including wood-burning smoke, enter the house and contribute to indoor air pollution), especially during the heating season.

In North America heating-season outdoor temperature is an important determinant of infiltration, and infiltration levels are generally lower in the heating than the non-heating season, when doors and windows are likely to be open more (Allen et al., 2012). In British Columbia the mean infiltration fraction of PM2.5 in winter was found to be 0.28, compared to 0.61 in summer, although infiltration factors for individual homes in winter ranged from 0.1–0.6 (Barn et al., 2008); another study reported similarly low mean infiltration levels of 0.32 Å}0.17 during the winter (Allen et al., 2009). Combustion of wood in residential areas and often under cold, calm meteorological conditions can nonetheless lead to high exposure compared to other pollution sources, owing to the principle of intake fraction.
  
Indoor pollution
Modern wood stoves and fireplaces, when operated according to the manufacturers’ instructions, release some PM and gaseous pollutants directly into indoor air, although in most cases the evidence for substantial indoor emissions from these modern stoves is very limited. With poor operation, poor ventilation or backdrafting, however, elevated concentrations of combustion products (such as PM, CO, VOCs, NOx and aldehydes) may result indoors. Acute CO poisoning, which can sometimes even be fatal, may occur due to indoor wood burning and infiltration of dirty ambient air), especially when ventilation of the wood-burning appliance is not managed properly.

Stove Change outs
p. 21. Such change-out initiatives have potential limitations. The Canadian Council of Ministers of the Environment (CCME) – the association of environment ministers from the federal, provincial and territorial governments – evaluated 12 stove exchange and educational efforts conducted in Canada and concluded that exchange programmes may have limitations relating to both the cost of new technologies and the long service life of appliances once installed. The assessment supported the use of regulation effectively to curb the sale of high-emission appliances. This approach is used in a number of Canadian provinces and American states.

The Canadian National Collaborating Centre for Environmental Health found that emissions standards (based on best available technologies) are needed to ensure that the newer devices installed through change-out programmes are among the cleanest available in the marketplace. Without these standards, change-out programmes may, in fact, be lost opportunities to install the cleanest available wood-burning devices, which will be in use for years to come.

The study also found that removal of conventional noncertified appliances (through exchanges, time limits or prior to the sale or transfer of a property) was the most effective strategy included in a model municipal by-law for mitigation of residential wood smoke (Environment Canada, 2006) (see “Other regulations and voluntary measures” in section 6). [Click for more on stove change out programs - editor.]

HEPA Filters
While household or individual-level strategies are not typically part of air quality management programmes, two studies from Canada indicate that inhome HEPA filtration might reduce health impacts from wood smoke. An initial single-blind randomized crossover study of 21 homes during winter, in an area affected by residential wood combustion as well as traffic and industrial sources, reported a mean 55% (standard deviation = 38%) reduction in indoor PM levels when HEPA filters were operated (Barn et al., 2008). Use of the HEPA filters reduced indoor PM2.5 and levoglucosan concentrations by 60% and 75%, respectively. [Click for more on HEPA filters - editor.]

Regulatory Emission Limits
p. 26. Over the past decade, the European Commission has worked towards the possibility of regulating solid fuel local space heaters and boilers, particularly those that use various forms of woody biomass fuel (wood logs, pellets and biomass bricks), to create proposed ecodesign emissions limits.

According to the Commission proposals, implementation of ecodesign standards would lead to significant reductions of PM2.5 emissions from solid fuel local space heaters and boilers compared to baseline projections. The draft regulation for solid fuel local space heaters2 states that in 2030 the proposed requirements for those products, combined with the effect of the energy labelling, are expected to save around 41 petajoules (0.9 million tonnes of oil equivalent (Mtoe)) per year, corresponding to 0.4 million tonnes of CO2. They are also expected to reduce
PM emissions by 27 kilotonnes per year,

Voluntary Measures
p. 30. The Wood Stove Decathlon, an initiative of the Alliance for Green Heat, was organized in 2013 to focus creativity and resources on designing next generation wood stoves. The main goal was to challenge teams of combustion engineers, engineering students, inventors and stove manufacturers to build wood stoves that are low-emission, high-efficiency, innovative and affordable, in a common process that may point to commercially attractive next generation stove production (Alliance for Green Heat, 2013). 

Policy Needs
p. 31 Any renewable energy or climate change related policies that support combustion of wood for residential heating need to consider the local and global ambient air pollution impacts and immediately promote the use of only the lowest emission or best available combustion technologies.

Legal regulations for wood combustion efficiency in new heating appliances are urgently needed throughout the world. These will both slow down the current rapid speed of global warming (relating to BC in fine particles and VOCs that promote ozone formation) and reduce the great burden of disease caused by wood combustion-derived particles (especially organic compounds carried by BC). Such regulations should include tight – but technically achievable – limits in particular for the primary emissions of particulate mass, gaseous hydrocarbons and CO from new boilers and heaters.

p. 32. As new wood-burning devices become more energy efficient and emit less pollution (especially PM), national governments need to prepare heater exchange regulations or voluntary programmes. Municipalities, counties and states should consider requiring heater exchanges at the time of home remodels or sales. In many cases, these regulations will be most successful if financial compensation is offered to assist with the cost of replacing old heaters with those meeting tight energy efficiency or emission limits regulations.

“No burn” areas are needed. Especially with current combustion technologies, it is important to define urban areas with dense populations and/or geographical features (such as valleys between mountains) where residential heating or cooking with small-scale appliances burning solid fuels (wood and coal) is not permitted at all or is at least limited to registered models of low-emission wood combustion devices. Residential heating with coal in small-scale appliances should also be permanently prohibited, at least in communities of developed countries, as should the use of wood log burners for central heating without a sufficiently large water tank (which otherwise leads to badly incomplete combustion and very large emissions).

Co-benefits for health and climate

As wood is burned ... carbon is released back to the atmosphere, not only as CO2 but in most household combustion also in the form of short-lived greenhouse pollutants such as BC, CO and VOCs including CH4. Thus, to be perfectly “carbon neutral”, wood fuel has to be not only harvested renewably but also combusted completely to CO2. For both climate and health purposes, the form these fuels’ carbon takes when it is released matters greatly, since BC and CH4 are both strongly climate-warming.

p. 34. A World Bank study found that replacing current wood stoves and residential boilers used for heating with pellet stoves and boilers and replacing chunk coal fuel with coal briquettes (mostly in eastern Europe and China) could provide significant climate benefits.

Another study coordinated by the United Nations Environment Programme and the World Meteorological Organization found that widespread dissemination of pellet stoves (in industrialized countries) could improve health, since these interventions lead to reductions in PM2.5.

If Arctic climate change becomes a focus of targeted mitigation action (because of threats from rising sea levels, for example), widespread dissemination of pellet stoves and coal briquettes may warrant deeper consideration because of their disproportional benefit to mitigating warming from BC deposition in the Arctic (UNEP & WMO, 2011). The World Bank found that replacement of wood logs with pellets in European stoves could lead to a 15% greater cooling in the Arctic (about 0.1 ÅãC). For Arctic nations the modeling strongly indicates that the most effective
BC reduction measures would target regional heating stoves for both climate and health benefits (Pearson et al., 2013).

Conclusions
p. 35. Given that residential wood combustion for heating will continue in many parts of the world because of economic considerations and availability of other fuels, an urgent need exists to develop and promote the use of the lowest emission or best available combustion technologies.

 It may be preferable in many cases to focus on making biomass-based home heating more efficient and less polluting rather than transitioning away from biomass to fossil fuels, given the climate change implications of using fossil fuel for heating.



Friday, July 12, 2013

Pellet Boiler Also Makes Enough Electricity to Power Home


Austrian company OkoFEN has brought to market the first residential electricity producing pellet boiler, the Pellematic Smart_e. The boiler uses a pellet-condensing module from an earlier pellet boiler design, the Pellematic Smart and outfitted it with with a Microgen Stirling Engine. The engine uses a heated/cooled helium hydraulic system. The result of these two technologies is a unique boiler that is capable of outputting 14 kW (47,770 Btu/h) of thermal energy and 1 kW of electricity.

The Pellematic Smart_e can save households’ money on both heat and electricity bills. Switching from oil, propane, or electricity to pellets usually results in substantial savings. The heat is used for space heating of the living area and domestic hot water generation. Plus with the added Stirling Engine, the electricity you produce in your own house can offset part of a home’s monthly electricity bill. A full load of 24 hours can produce 24 kWh of electricity at 1kW.

At 24 kWh per day, the Pellematic Smart_e could generate enough electricity for most or all of a home’s average daily electricity needs. However, in order to create this electricity, the boiler must run at full capacity, which can create a substantial amount of excess heat. The surplus heat may be stored while the electricity is still produced but even with the heat storage capabilities, some of the heat may be lost, and the efficiency of the boiler falls. For the Pellematic Smart_e to meet the electricity needs of a house, it would have to extend far beyond the heating needs of that house.

“The issue is the large 14:1 ratio between thermal and electricity on this unit, and the (likely) narrow output curve,” explains Norbert Senf, one of the judges for the Wood Stove Design Challenge, “In a thermal electricity generating station, you get about a 2.5:1 ratio.”

Although it is perhaps not the most efficient when it comes to producing electricity, OkoFEN’s innovative boiler demonstrates the potential of this hybrid technology. The success of this product is likely to lead to further industry advancements to manufacture and distribute pellet boilers capable of producing even greater amounts of electricity.

For more information check out OkoFEN’s website here

Also, their FAQ page here