EPA-AA-SDSB-80-14
                         Technical Report
                 Summary  and Analysis of  Comments
           Received  in  Response  to Draft  EPA Procedures
        for the Measurement of Tire Rolling Resistance and
            Subsequent  Grading and Labeling of Tires
                               by


                         Glenn  D. Thompson


                             July 1980
                              NOTICE

Technical Reports do not necessarily represent final EPA decisions
or positions.  They  are  intended  to  present technical analysis  of
issues using' data  which  are currently  available.   The purpose  in
the  release of  such reports is  to  facilitate  the  exchange  of
technical information and to inform the public of  technical  devel-
opments which may form the  basis  for a  final EPA decision,  position
or regulatory action.

             Standards Development  and  Support  Branch
               Emission Control Technology Division
          Office  of Mobile  Source Air Pollution Control
               Office of Air,  Noise and Radiation
             U.S.  Environmental Protection Agency

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                                  -2-

INTRODUCTION

The area of tire rolling resistance,  particularly as  it  affects the
exhaust emissions and fuel economy of a vehicle, has  been a concern
to EPA  for  several  years.   For example,  EPA Advisory Circular No.
55A, dated February 8, 1978 stated that:

     "Due to the potential for abuse  of the option to alternatively
     determine the  dynamometer  power absorber  setting  and, in
     particular, the  large effect of such potential abuse on the
     fuel economy  test  values,  EPA is concerned that only validly
     determined  and  fully  representative  alternative  dynamometer
     power  absorber  settings  be  used  in certification  and  fuel
     economy testing.  To  this end, EPA has requested through  this
     advisory  circular  data  on  the  tires  used on  the coastdown
     vehicle,  the  tires  used  on all  other  vehicles which the
     original  coastdown  vehicle  represents,  and  the  tires  which
     will be used in production."

     "EPA's  request  for data  on  production  tires,  which  will be
     used to specify the tires to  be  installed  on test vehicles, is
     intended as an  interim measure  to ensure  tire representative-
     "At  some   later  date,  when  a  standardized,  acceptable  test
     procedure  for measuring tire  rolling resistance  is  available,
     this  tire  performance  information  will be  requested  rather
     than  the categorical  tire  information  requested through  this
     advisory circular.   Tire  rolling resistance  information  will
     provide EPA with a better tool  for specifying tires  to  ensure
     the  representativeness  of  emissions and  fuel economy  data."

     As  the  initial  step in  developing  a standardized  acceptable
test procedure  for measuring tire  rolling  resistance  EPA  prepared  a
technical report, Determination  of Tire Energy Dissipation-Analysis
and  Recommended Practices,  in  April  1978.    This report and  its
draft recommended  practice  for determining tire energy dissipation
was circulated  to the automotive and tire  industries  with a request
for comments.   The comments received were compiled and analyzed  in
a subsequent EPA technical report, Summary and Analysis of Comments
Received in Response to the EPA Report, Determination of Tire
Energy  Dissipation,  Analysis  and  Recommended Practices,   which  was
released in January 1979.

     As  a  result  of this first analysis  of  comments the proposed
recommended practice  for  determination of tire energy dissipation
was  substantially revised.   This  revised   draft  test  procedure,
together with a draft proposal for  grading  and  labeling of  tires
for  rolling  resistance was  again distributed with  a request  for.
comments to the  automobile and  tire.industries in April  1980.

     This  report  presents,  summarizes and  analyzes the  comments
received  in  response to the April  1980  distribution of  the  Draft

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                                   -3-
EPA  Recommended  Practice  for  Determination  of  Tire Rolling  Re-
sistance Coefficients  and  the  Draft  EPA Recommended  Practice  for
Grading and Labeling of Tires for Fuel Efficiency.

SUMMARY AND ANALYSIS OF COMMENTS
     Comments on  the  EPA Draft  Recommended  Practices were received
from the following parties:

MTS Systems Corporation, Gerald R. Potts

SAE Rolling Resistance Subcommittee, Tom Baker, Chairman

Marion G. Pottinger and Nicholas M. Trivisonno

Rubber Manufacturers Association, Tom Cole

Motor Vehicle Manufacturers Association, Harry Weaver

ASTM Committee F-9 on Tires, W. Bergman

General Motors, T. Fisher

Ford Motor Co., Hellen Petrauskas

     This  section  of  the report presents .and analyzes the signifi-
cant  technical aspects  of  the comments received  from  these re-
spondents.   The headings and subheading of the  following sections
of  this  report correspond  to  those of the original  draft  recom-
mended  practices.   These  recommended  practices  are  provided  as
Attachments  I  and II of this report.   The  complete  record  of the
comments which  were received are  also  provided  as  Attachment III.

            EPA Recommended Practice for Determination
             of Tire Rolling  Resistance Coefficients

I.   Introduction

Comments/Analysis

     None.

II.  Test Equipment

     A.   Tire Dynamome.te.r

Comments                                       .

     SAE, ASTM, RMA, MVMA, and  Messers  Pottinger and Trivisonno all
commented  that  the requirement  that the  test machine determine tire
energy  dissipation by  measurement of  spindle reaction  force was
overly restrictive and  that  torque or energy methods should also be
allowed.   Messers Pottinger and Trivisonno specifically noted that

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                                 -4-

few machines  in  existence  today  were equipped to measure spindle
force.

     MTS commented that the recommended use of  a 67.23 inch dia-
meter tire test machine was unduly restrictive and suggested that
the following statement be added to  the EPA Recommended Practice.

     "The Development  of  Preferable  Flat  Surface  Laboratory Ap-
     paratus   is progressing a  pace  which  may soon  bring  it into
     use.  The recommended practice  is written in such a way that
     it  can  be used  without modification when such  equipment
     becomes  commonly  available."

Analysis

     There are several reasons why spindle force can be the pre-
ferred approach.   The primary  reason  is  that this approach has the
minimum parasitic losses which  are  included, and must be corrected
for,  in  the  measured parameter.   Spindle  force measurements only
include the spindle bearing losses  in addition to the tire energy
dissipation.  The torque method  also includes the  test  wheel
bearing losses,  and the energy  method includes all of the parsitic
losses of the system  including the drive motor.

     Spindle  force also has  the  advantage that  it  may be easier
to  retrofit an existing machine for  spindle force measurement than
for  torque  measurement  since  the torque  measurement modification
requires instrumentation of  the test wheel  drive  mechanism.
Finally, it  is  possible  to  instrument  multiple spindle  force
stations on a single test  wheel and  to thereby test multiple  tires
simultaneously.

     The disadvantage of  the  spindle  force method is  that the load
cell  used to measure the force must  be capable of  accurately
resolving the transverse tire dissipation forces  in  the  presence  of
the large tire  loading force normal  to  the  test wheel.   This
resolution problem subsequently requires greater care in the test
machine  alignment  and  in  the  test machine operation  than  is re-
quired by the other methods.

     There  is no  strong  technical  reason why other  methods  of
measuring tire rolling  resistance  should  not  be allowed.   There-
fore,  it is  recommended  that the EPA recommended practice  be
revised  to state that measurements be made by  spindle force  trans-
ducers  or  by any  other approach which  yields equivalent results.

     While measurement of  tire  rolling  resistance on  a  67" drum  by
instrumentation systems other  than  spindle  force  transucers are
directly compatible with the current  EPA Recommended  Practice, the
use of a flat  surface machine  is  not.   This  incompatibility,
occurs  because the  rolling resistance of the  tire on a curved
surface is higher than  that on a flat surface.  While  several
correction approaches  have  been  proposed, no correction approach

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                                  —5—

was included in the EPA Recommended Practice because of the concern
over  the universal applicability of  the available correction
equations.

     In the earlier version of the EPA Recommended Practice a flat
surface  test  machine  was  proposed and  virtually  all  commentors
opposed this recommendation because of the limited availability of
this  type  of  test  machine.  Consequently  at  this  time  there does
not appear  to  be any  apparent  alternative  to  recommending the 67"
diameter  test  wheel.   When  flat  surface machines  are  in greater
service more data will be available to evaluate the accuracy of the
curved-to-flat  surface  correction  factors  or to  develop  improved
versions.  At that  time  the  EPA Recommended Practice can  be
revised to prefer the  use of  a  flat surface machine with correction
factors provided to allow continued use of  a circular test surface.

      1.   Test Machine Alignment

Comments

     The  MTS  corporation  and Messers  Pottinger  and Trivisonno
commented  that  the  specified machine  alignment   tolerances  were
excessive for  a spindle  force machine.  Messers Pottinger and
Trivisonno recommended that the  alignment accuracy should be +0.01°
while Mr. Potts of  MTS recommended alignment accuracy of +0.03° and
that  efforts  be made  to measure or eliminate the  remaining cross
coupling error.

      In  addition  to the longitudinal alignment  accuracy  require-
ments  Messers  Pottinger and Trivisonno suggested  that  the  slip
angle tolerance be  0.01° and  that:

      "For consistency  we would  make the wheel plane  to test surface
      angle, 90° to  within O.OlV

Analysis

      The  analysis  of  the alignment problem  presented by MTS
was   particularly  convincing,  consequently  the  allowable  align-
ment  tolerances should be reduced,  particularly  for longitudinal
alignment.   The comments  on slip angle tolerance  indicates that
this  parameter is not as critical  as  the  longitudinal  align-
ment.   Consequently,  based on  the  comments  it is  concluded that
an  alignment  accuracy of 0.03" is sufficient for both longitudinal
alignment  and  slip  angle if  care  is  taken  to measure or eliminate
any  remaining cross  coupling  errors.   The  alignment  accuracy is
recommended.  The more stringent alignment  of 0.01°  can, of course,
be adopted by any test laboratory.

      2.   Test Machine Control  Accuracy

Comments/Analys is
              »
      None.

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                                  -6-

     3.   Test Machine Instrumentation Accuracy

Comments                 •                                   .

     Messers Pottinger and  Trivisonno commented:

     "The spindle force accuracy  of  0.1  Ibf will require the use of
     very light-duty load cells preferably 100 Ibs. or less.  This
     requires very careful  design and operating procedures to avoid
     incessant breakage."

Analysis

     The precision of 0.1 Ibf  is  considered quite desirable and is
therefore specified  in  both  the  EPA and SAE recommended practices
for measurement of tire rolling resistance.  This comment therefore
considered,   primarily  as  a  cautionary  note,  and  is  so  appreci-
ated.

     B.   Test Cell Requirements

     1.   Thermal Control

Comments

     RMA  and Messers Pottinger and  Trivisonno  commented  that
100°F  test  cells  are commonly availably  for  the DOT  Federal
Motor  Vehicle Safety  Standard  109   and  that  it would  be perfer-
able if  such cells could be  used for  rolling resistance  measure-
ments.    ASTM, however,  commented that  the  allowable temperature
range  specified  in the EPA recommended practice +5°F could signi-
ficantly affect the measured rolling resistance of  tires.

Analysis

     The  average  temperature environment of  an  in-use  tire is
closer to 75°F  than it is  to  100°F.  Since the goal of the recom-
mended  practice  is to  promote fuel conservation through  improved
tires  it  is logical  to choose a  test cell, temperature  which
approaches  average in-use  environment  temperature,  yet  is easily
attainable.   The  proposed  test  temperature,  75°F  is  such a com-
promise.   The  selection  of such a common laboratory temperature
should not impose a significant burden.

     This is also the test  cell  temperature  specified by the  SAE
Rolling Resistance  Measurement Procedure for Passenger Car Tires  -
SAE  J1269.   It  is  therefore  concluded  that  the nominal test cell
temperature  should remain at 75°F.

     The  ASTM comment  that temperature  significantly  affects tire
rolling resistance  is in concurrence with EPA  experience in testing
light-duty vehicles.  Furthermore, our  experience  indicates  that it
is  difficult *to  accurately  correct for  temperature effects over

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                                  -7-

wide temperature ranges.   Consequently we do not  concur that  the
allowable  test  temperature  range  should  be  expanded  to  include
100°F.

     The ASTM suggestion of adopting a  temperature  correction
factor  to adjust  to a nominal 75°F  within the  current  70° to
80'F range  is desirable.   It  is  recommended  that  a  temperature
correction, of a form similar  to that used  in EPA Advisory Circular
AC 55/C, be adopted.   However,  it  is recommended that  coefficient
of the  temperature  correction not  be  specified at  this time,  but
that data  be  requested from  the commenters to  provide a stronger
data base  for the  determination of  the value  of this  coefficient.

     2.   Temperature Measurement Precision

Comments/Analysis

     None.

III. Test Procedure

     A.   Tire Mounting

     1.   Rims            .           '

Comments                                .   •

     The RMA commented:       -•   •         ;

     "It is not  certain what  the effect of wide versus narrow  rim
     width  is  oh rolling resistance.   Consequently,  it is  recom-
     mended that  test rims be  those  specified  by  the Tire &  Rim
     Association, Inc. as "design rim width," _+pne-half inch.   For
     tire  sizes  not  standardized by  the  Tire  &  Rim  Association,
     Inc., reference  should be  made to  the standardizing organiza-
     tions  listed  in Federal Motor  Vehicle  Safety Standard  109."

Analysis

     The  RMA  comments . appear  reasonable  and   probably should be
adopted.

     2.   Inflation Pressure

Comments

     GM and the MVMA  commented  that all Alpha Numeric  tires  should
be tested  at  the same inflation pressure  rather  than  varying  the
inflation pressure with the tire load range.  The same comment  was
made regarding "P" type tires.

     On  the subject of the recommended inflation pressures,  ASTM,
RMA, SAE and MVMA  all recommended higher test inflation pressures,

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                                 -8-

generally  32 and  35 psi for  Alpha Numeric and  "P" type  tires
respectively.

     The EPA recommended practice  for  measurement  of tire rolling
resistance  included  test  inflation pressures for  "T"  type tires.
RMA, Ford,  MVMA and  GM all commented  that  these  tires  are tem-
porary usage tires and  should  be excluded  from  the rolling resis-
tance measurement  and grading procedures.

Analysis

     From  the  standpoint  of ranking  tires  it  is unlikely that
significant ranking  changes  would  occur in  the  6  or  8  psi range
allowed for extra load tires.   Therefore, in the interest  of
simplicity, a single  inflation  pressure  is recommended.

     The test  inflation pressures  prescribed in the draft recom-
mended practice were  intended to represent typical in-use inflation
pressures.   It  is  a  major  concern  that the higher  inflation pres-
sures often recommended for current vehicles  may not be maintained
in  actual  consumer  use.   Still,  there is  a potential  for fuel
conservation by  encouraging  higher  test  inflation pressures.
Consequently,  it may be appropriate to use  higher .test  inflation
pressures  and  to   stress  in  EPA information  programs and  in the
labeling program that rolling resistance values were obtained at 32
or  35  psi,  that these  pressures are recommended and are safe for
the tire operation.  Such  an  approach would have little probability
of  misleading a consumer  in  tire selection and  would provide some
encouragement  for   increased   inflation  pressure.    Consequently,
adaption of these higher  test pressures  is recommended.   The
increase in the test  inflation pressure will, of course,  require a
revision of  the categories  of the Recommended Practice  for Tire
Labeling and Grading.

     To  the  extent that T  type  tires   are only  used as  temporary
"spares" it  is  .reasonable  to exclude them  from  the current  proce-
dure.   Therefore,  at  the  present  time  it is  recommended that they
be  excluded.  If such  tires are used for common service or  if such
a tire  designation is  later used for common  service tires  then the
determination of  the energy dissipation of  these  tires  should be
considered.

     B.   Tire Break-In

Comments

     The EPA  recommended  practice  requires  a one-hour tire  break-
in.   SAE,  RMA, MVMA, and GM  all  commented  that break-in was not
required for  radial   tires and, therefore  break-in should only be
required for non-radial tires.  No specific  data were provided by
these respondents.

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Analysis

     The  available  data  does  indicate  that tire  break-in is
more  important  for  non-radial  than  for  radial  tires.   However,
such data are usually obtained under  regulated pressure conditions
rather  than  the  capped  method  specified  in  the  EPA Recommended
Practice.  Elimination  of  the break-in for  radial  tires  tends to
complicate the  test  procedure by introducing different  test re-
quirements for different  tire types.   It would  probably also induce
some increase in the  variability  of  the results between the initial
and  subsequent  tests of a  tire.   For these  reasons  it  is recom-
mended  that  tire  break-in remain as  part of  the EPA Recommended
Test Procedure for all tires. However, it should be noted that the
recommendation which was made  in the test  equipment section, to
allow  alternate  approaches which yield  equivalent  results,   would
also  allow deletion  of  the  tire  break-in  if break-in effects are
negligible.  Also, deletion  of the break-in by a  tire manufacturer
could  logically  only result  in  a conservative rolling resistance
grade  for  the  tire.   Therefore,  there should be no objection  if a
tire manufacturer wishes to delete the break-in.

     C.   Thermal Conditioning

Comments/Analysis

     None.

     D.   The Rolling Resistance  Measurement

      1.   Installation on the Test Machine

Comments

     This  section  of the EPA Recommended Practice states that the
tire should be  installed on the test machine, the normal  load
should be  applied  and  then a final  pressure check should be  made.
ASTM, RMA,  MVMA,  and  SAE all  commented that  the order  of the
pressure check—machine installation  sequence  was  not  important, but
that   it  was  currently   common  practice  to  measure  the  inflation
pressure of  the tire prior to installation loading because this was
more  convenient for  the test machine operator.

      With respect to the final pressure  inflation measurement, RMA,
GM,  and Messers  Pottinger and  Trivisonno all commented  that the
accuracy specified  in the  EPA Recommended  Practice was excessively
stringent.   GM and Messers  Pottinger and Trivisonno  recommended  a
pressure gauge  accuracy of  0.25  psi  while  RMA suggested 0.5 psi.

Analysis

      The sequence  specified  in  Draft EPA Recommended Practice  is
the  typical  sequence that  would  occur on  an  in-use  vehicle.   There
is,  however,* little  reason to believe that  the  order  of the

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                               -10-

sequence would have  a  measurable  effect on  the  tire rolling re-
sistance  coefficient.   Therefore,  it  is  recommended  that the
sequence  specified  be  revised to coincide with current  common
practice.

     The GM  comments estimated that  the effect  of  an  inflation
error  of  0.5 psi  would be between  0.10 and  0.15  Ibs.  in tire
rolling resistance.  In  general the Recommended Practice attempts
to maintain an accuracy of 0.1 Ib.  whenever feasible.   Consequently
an inflation pressure  accuracy of 0.25 psi would  appear to'be
adequate  while  an inflation  pressure  accuracy  of  0.50  psi is
marginal.   Consequently,  it  is recommended that the EPA Draft
Recommended Practice be  revised to  specify  an inflation pressure
accuracy of 0.25  psi.

     2.   Tire Warm-Up

Comment s/Analys i s

     None.

     3.   Rolling Resistance Measurements

Comments/Analysis

     None.                                                     .

     A.   Measurement of  Parasitic  Losses

Comments

     A "skim" reading method in which the tire lightly contacts the
test wheel was specified in the EPA Draft Recommended Practice as
the method of determining  the parasitic machine losses.  Most
comraenters expressed reservations about this  approach  and  expressed
preference for a  "machine" reading in  which  the tire  is completely
unloaded and only the residual machine  signal is noted.

     GM, however, expressed perference  for an approach in  which the
rolling resistance  of the tire  is  determined  for a very light  load
and the  rolling  resistance  coefficient  then be  determined by the
measured change in  the  rolling  resistance divided  by  the  change in
the load.

Analysis

     The "machine"  reading  approach preferred  by most commenters
is  the simplest  approach.   However,   this  approach  does  include
the  tire  spindle  bearing losses  in  the  rolling  resistance.
To the extent that  spindle  bearing losses  are  different on  dif-
ferent  test  machines this will  result  in some variability of the
results between different test machines.

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                                -rll-

     The  approach  recommended by GM has the advantage  of removing
the  variations  which  might occur  in spindle  bearing losses.
However,  the GM  approach does have  the disadvantage of also
subtracting the tire aerodynamic losses.

     The  ideal solution would  be  to  remove the  spindle  bearing
losses while retaining the  tire  aerodynamic  losses.   In this
manner the  measured tire rolling resistance.would  be closest
to the load  which a  tire  would impose on  a  vehicle on  the  road.
However,  the aerodynamic  drag from the  tire  when  on the test
machine may  be different  from the  drag when installed in  a  wheel
well  cavity.  Consequently,  it  is  concluded  that  it is more
important to  remove  the   variability   induced by  spindle  bearing
losses than it is to preserve  the aerodynamic  component of the tire
losses.  Therefore,  it is recommended  that the GM approach  be
adopted.

     It  should be noted  that,  use of a  "machine  reading"  would
result in a  more  conservative measurement  of the tire rolling
resistance  and  therefore, if adopted  by  a  tire manufacturer
this  would  not  be objectionable  as  discussed in the previous
section.

IV.  Data Analysis

Comments

     Minor editorial comments  only.       ;

Analysis

     Corrections  and revisions will  be  adopted as necessary.

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                                -12-

             EPA Recommended Practice  for Grading and
              Labeling  of  Tires  for  Fuel Efficiency
I.   Introduction
Comments
     The introduction to this EPA Recommended Practice stated that
tires had a significant  effect on  vehicle  fuel consumption and that
the measured rolling  resistance  coefficient  of  a tire was  a good
predictor of  the fuel  consumption  effect of  the tire.   Several
commenters,  particularly Ford and  ASTM questioned  if measurement of
the energy dissipation of  a free  rolling  tire was adequate to
predict in-use fuel  efficiencies of  tires.

     In addition, these comraenters  expressed  concern over the
ability of  consumers to  conveniently  utilize  the tire  grade in-
formation or  to  convert this information  into  predictions  of the
relative  vehicle fuel  consumption with different tire grades.

Analysis

     The accuracy of  the current  proposed test  procedure was also
an original concern  to  EPA and  was  the reason that the EPA recom-
mended practice of April 1978 included determination of tire energy
dissipation over  a   transient cycle.   Numerous  comments  and data
submitted in response  to this  recommended practice indicated that
the  current  simplified  procedure  is adequate to  predict  the fuel
efficiency of  tires.  Data obtained  by EPA also  support  this con-
clusion.   Consequently,  unless  data supporting  the  need  for more
complex  test   procedures  are developed,  the  current  recommended
practice is considered adequate.

     With respect to the use of the tire  grade information and the
ability to  convert  this information into fuel  efficiency,  the use
of  letter  grades was recommended specifically  to simplify inter-
pretation of the grading system.  In addition, EPA will provide an
information pamphlet to allow estimation  of the relative effects on
vehicle fuel efficiency of various tire grades.

II.  Tire Grade Classification

Comments

     ASTM and  Ford  both  commented  that  the  range  of tire grades
should  be  expanded.  It  was particularly noted  that  many current
tires  would  fall  in the highest rolling  resistance categories and
that perhaps additional higher  rolling  resistance  categories should
be provided.

Analysis

     The proposed categories were selected to promote development

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                                -13-

of  improved  low rolling resistance  tires,  and to  provide  a very
simple system  for  ease of  consumer  use.   Many  current tires are
included  in  the "D  grade".   However,  it  is  expected that these
tires.will be  improved as  available  technology permeates the tire
manufacturing field.   While  it  is  certainly  technically feasible to
provide additional  tire grade levels,  the advantages of maintaining
a simpler system appear greater than  those of expanding the grading
system to include tires which will tend  to  vanish from production.

III. Determination  of the Grade of a  Tire Design

Comment s

     Messers  Pottinger  and  Trivisonno expressed  concern that the
proposed grading  sytem could,  in some  instances, extenuate or
mask  true  tire  rolling  resistance variations.   Several examples
were  provided,  which demonstrated the  importance  of  small varia-
tions in measured rolling resistance when the results  are near the
boundaries of  the categories.    A numerical  labeling system was
proposed as an alternative  approach.

     In  addition,  GM  proposed  a  tire grading system  which would
reduce  or eliminate the tendency for  smaller  tires to  qualify
for  higher rolling resistance grades  than  larger tires.   The GM
proposal  essentially  requires  extrapolation of rolling  resistance
data  versus  test load  for  diverse size  tires of a given design.
The  rolling  resistance grade  was  then based on  the   intercept or
zero load value of  the extrapolated line.

Analysis

     Whenever  a category  measurement or  grading system  is used
there is  always  the  possibility of some  inequitable treatment near
the  category  boundaries.    However,  a  numerical  labeling  system
would be inconsistent with  the current  DOT  tire quality grading
systems  and  would  be  more  difficult  for consumer use.   In this
instance  the  advantage of  simplicity  and consistancy provided by
the  category  labeling sytem  are judged to  be  greater than the
disadvantages of such an approval.

     There is  merit  in the  concept  of  the  GM proposal  to attempt
to  make  tire  grades  independent  of  tire size.   Primarily,  it  is
generally  accepted  that it  is more  difficult  to manufacture low
rolling  resistance  tires  in  small  sizes.    Consequently  a  given
brand  or design of  tire might,  under  the  current  classification
system, be a "grade B" tire in larger sizes  yet only be a "grade  C"
tire  in  the  smaller  sizes.    This would be a technically correct
statement  of  the  rolling  resistance cofficient   of  the tire, but
might cause some consumer confusion and diminish  use of the system.
Likewise  this  could  prevent a  general tire  line  from  being  adver-
tized as "rolling  resistance grade A tires" and  therefore,  reduce
dissemination  of the rolling resistance grade information in tire
advertising.  •

-------
     There are,  however distinct  problems with the GM  proposal.  If
the "adjustment  factor" for tire  size  is determined and  included in
the EPA Recommended Practice then this  single "fixed"  value may not
be appropriate for all tire technologies.   If the adjustment factor
is  to  be determined  for  each  tire design, then  the grade could
become very dependent on the particular tires selected to determine
this factor.  In general, the logic  of  a floating adjustment factor
is  circuitous since the  data  obtained from the  tests  of diverse
tires would be used to  determine  an adjustment factor based on the
apriori decision  that  the tires  tested were of equivalent design-
technology, where as  the purpose of the testing  should  be to
determine or verify the  rolling  resistance  technology of the tire.

     It  is  recommended that a grading system  which  provides some
adjustment for the tendency of smaller  tires to have higher rolling
resistance coefficients be developed.   This system should be based
on a predetermined or "fixed" adjustment factor.  However, since GM
was  the  only commenter  suggesting  such an approach,  the proposed
system should be distributed  for  comments before final adoption.

IV.  Tire Labeling

Comments                                       .

     GM  commented  that,  "A simplified version  (of  the proposed
label) such as 'fuel economy grade B'  in dimensions consistent with
the  tire quality grading label  should   be adequate."   Messers
Pottinger and Trivisonno commented  that  point  of sale  information
should be used rather than molded labeling.

Analysis

     With respect  to the  location  of  the  information  it  is con-
sidered essential that  the information be  available on  the tire if
the  customer is  to be assured  that   the  rolling resistance in-
formation is  applicable to  the  purchased   tire.    However,  an ad-
hesive label  attached  to  the  tire  might  be an acceptable  initial
alternative to sidewall molded information.

     With respect  to  the  size of  the  fuel efficiency  label there
are  no  technical reasons why  the  DOT  quality  grades and the  fuel
efficiency grades need be the same size.   The  fuel  efficiency grade
of  tire  should  be  of  sufficient  importance to  warrent clear  con-
spicuous  labeling.   It is questionable if  the DOT quality  grading
labels,  using letter  5/32 in.  high  can   be considered clear and
conspicuous.

     In  addition to the  technical  comments discussed  in the  pre-
vious  sections  general  editorial  comments were  submitted.    Cor-
rections or modifications are recommended  as necessary.

RECOMMENDATIONS
     The  issues which  were raised  in  the  comments received  are

-------
                                -15-


summarized in  the following tables.   These tables  also  summarize
the recommended actions in response to these issues.

-------
                                -16-

                              Table 1

                 Rolling Resistance Test Procedure
             Issue
Other measurement approaches,
in addition to spindle force
should be approved.

Test machine alignment tolerances
should be reduced, particularly
for spindle force machines.

Resistance measurements in
high temperature test cells
(100°F) should be acceptable.

Provide a temperature correction
to correct rolling resistance
measurements obtained in the
range of 70° to 80°F to a nominal
75°F.

The proposed rim specifications
should be more specific.

All alpha numeric tires should
all be tested at 32 psi indepen-
dent of load range.

All "P" tires should be tested
at 35 psi independent of the load
range of the tire.

Delete temporary "T" type tires
from the recommended practice.

Delete the break-in requirement
for radial tires.
The  sequence of  loading  tire
followed by checking  that  infla-
•""^n pressure should  be  changed
   check pressure  then load tire.
                                    	Recommended  Resolution	

                                    Provide allowance for  the  use
                                    of  the measurement methods,  par-
                                    ticulary  the  torque  approach.

                                    Adopt the proposed reduced
                                    alignment tolerance.
                                     Reject  the  proposal.
                                    Adopt  the  proposal, however
                                    it  is  recommended  that  the cor-
                                    rection  coefficient which  is
                                    developed  be  re-distributed for
                                    additional review  and comments.

                                    Adopt  the  proposed rim  speci-
                                    fications.

                                    Adopt  the  proposal.
                                     Adopt  the  proposal.
                                     Adopt  the  proposal.
                                     Include  a statement that
                                     other procedures which yield
                                     equivalent results are accept-
                                     able. This will allow dele-
                                     tion of  tire break-in of
                                     radial tires at  a tire manu-
                                     facturer's option if break-
                                     in does  not significantly
                                     affect rolling resistance.

                                     Adopt the proposal.
tion
to

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                                 -17-


                          Table 1 (cont'd)

                 Rolling Resistance Test Procedure
             Issue
The accuracy of the tire infla-
tion pressure gauge should be
reduced to 0.25 psi.

Change current "skim reading"
approach for measurement of the
machine parasitic losses to a
"machine reading" or a modified
"skim reading" approach.
     Recommended Resolution
Adopt proposal.
Adopt the proposed modified "skim
reading" method.  A tire manufac-
turer could adopt the "machine
reading" approach under the pro-
vision for "alternate methods
which yield equivalent results."

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                                -18-

                              Table 2

                        Grading and Labeling
             Issue
The rolling resistance of a free
rolling tire may not be adequate
to predict tire fuel efficiency.
The range of tire grades should
be extended.
A continuous numerical grading
system should be adopted instead
of the proposed letter category
system.

Rolling resistance grades should
be dependent on tire load (size)
in~>addition to rolling resistance
coefficients so that there ' is not
a tendency for small tires to
have higher (inferior) grades.
	Recommended Resolution	

No changes recommended.  Sufficient
EPA and general literature exist
to demonstrate that the rolling
resistance of a free rolling tire
is a good predictor of the effect
of the tire on vehicle fuel con-
sumption.

No change in the number of cur-
rent categories, is recommended
however, the resolution of the
final issue somewhat reduces the
need for expanded grades.

Reject the proposal to retain
simplicity.
Adoption of the proposal  appears
desirable, however since  this  pro-
posal was only made by one com-
menter the proposed modficiation
should be distributed for comments.

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              -19-
          ATTACHMENT I
              DRAFT
    EPA Recommended Practice
for Determination of Tire Rolling
     Resistance Coefficients

-------
                  -20-
                   DRAFT

        EPA Recommended Practice  for
       Determination of Tire Rolling
          Resistance Coefficients
                      by
               Glenn  Thompson
                 March  1980
  Standards Development and Support Branch
    Emission Control Technology Division
Office of Mobile Source Air Pollution Control
     Office of Air, Noise and Radiation
    U.S. Environmental'Protection Agency

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                               -21-


I.   Introduction                              .

     This  test  procedure determines  the tire  rolling  resistance
coefficient for  a free rolling tire  at  a steady  speed.   This
procedure  conforms  to the  SAE  Recommended  Practice, Rolling  Re-
sistance Measurement Procedure  for  Passenger Car Tires - SAE J1269,
generally adopting the recommended conditions  of J1269  as  the
required  standard  conditions.   The SAE Recommended Practice J1269
and the  accompanying SAE information report  J1270 may be consulted
for additional information.

II.  Test Equipment

     The  test equipment required is  a tire dynamometer  which
measures the tire spindle reaction  force  as the tire is driven by a
large cylindrical test wheel.

     A.   Tire Dynamometer

     The test dynamometer shall  be  a cylindrical surface machine of
67.23 in  (1.7076m) diameter.  The test machine shall be capable of
supplying  a  force  on the tire  perpendicular to  the  test  surface,
and  shall be able  to measure  the reaction forces acting  on the
tire.   During this  process  the  machine must be capable of driving
the test  surface at constant speed.  The width of  the test surface
must exceed the width of all test tires,  and the test surface shall
be  coated with  a  medium coarseness abrasive  (80 grit).   As an
example, medium  grit 3M Safety-Walk represents a satisfactory
surface.*                              .

     1.   Test Machine Alignment

     The  direction  of  application  of  the tire  load must be normal
to  the  test  surface within  0.3  deg  (5.2  mrad).  The wheel plane of
the  tire must be  normal  to the test  surface within  0.3  deg (5.2
mrad) and  parallel  to the direction of motion of  the test surface
within  0.1 deg (1.7 mrad).

     2.   Test Machine Control  Accuracy

     Exclusive of  perturbations induced by the  tire  and  rim non-
uniformities, the  test equipment must  control  the test variables
within  the following limits:
 *    The manufacturer  of this  product  is  identified  to clarify the
.example  and does not imply endorsement  of  the  product.

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                              -22-

                         U.S.  Customary Units   SI Units

Tire Load                      5 Ibf              22 N
Surface Speed                  1 mph              1 km/h

     3.   Test Machine Instrumentation  Accuracy

     The  instrumentation  used  for  readout  and recording  of  test
data must be accurate within the following tolerances:

                      U.S. Customary Units     SI Units

Tire Load                     2 Ibf           8 N
Surface Speed                 0.5 mph         0.8 km/h
Spindle Force                 0.1 Ibf         0.4 N
Loaded Radius                 0.1 in          0.002 m

     B.   The Test Cell Requirements

     The primary requirement for the test cell is that the  ambient
temperature be well controlled.  In  addition, the support services
of compressed air should  be available  for tire inflation as  should
the necessary gauges to measure tire inflation.

     1.   Thermal Control

     The ambient temperature in the vicinity of the  test  tire shall
be 75 i 5 °F (23.9 +.2.7 °C).r

     2.   Temperature Measurement Precision

     The  instrumentation  used  to  measure  the ambient temperature
must be accurate to within 1 °F (0.5 °C).

III. Test Procedure

     The  test procedure consists of  the  following  steps:  tire
mounting;  tire break-in;  equilibration of  the  tire  to the  test
ambient  temperature;   adjustment  of the  cold inflation  pressure;
tire warm-up and then measurement of  the tire rolling resistance.

     A.   Tire Mounting

          1.   Rims

     The  tire  shall  be mounted  on  test rims which have  an approved
contour  and width  as specified by the Tire  &  Rim  Associations,
Inc.,  for  the  size  tire being tested.  These rims  shall  have  a
maximum  radial  runout of 0.035 in  (0.88 mm)  and  a  maximum  lateral
runout of 0.045 in (1.14 mm).

-------
                                   -23-

          2-    Inflation Pressure

     The inflation pressure  of  the tires after mounting  shall be
the  inflation  pressure  specified  for design purposes by  the
Tire & Rim Association, Inc.  There  pressure  are  specified in the
following table for passenger car tires:

           Alpha  Numeric  Size Tires
                   Load Range B Tires        24 psi (165 kPa)
                   Load Range C Tires        28 psi (193 kPa)
                   Load Range D Tires    .    32 psi (221 kPa)
           "P"  Type Tires
                   Standard Load Tires       26.1 psi (180 kPa)
                   Extra  Load Tires          31.9 psi (220 kPa)
           "T"  Type Tires
                                             60 psi (41K4 kPa)

The  tire inflation  pressure after mounting shall  be  correct
to within  1  psi (6j3  kPa).   The  gauges used to measure  this tire
inflation  pressures  shall  be  accurate  to within  0.5 psi (3.4
kPa).

     B.   Tire  Break-in

     Tires  may undergo  significant  permanent  growth  upon  first
operation and  therefore  require an  initial break-in  and  cooling
period prior  to the start  of  the  test.  A break-in run consisting
of installing the tire on  the tire test  machine and operating the
system under  the  test conditions  for  a period of  1 hour  is  re-
quired.

     C.   Thermal  Conditioning

     After initial break-in the tire  shall be placed in the thermal
environment of the test conditions  for a minimum period of 3 hours
before the test.   During this period  the  tire inflation pressure
should be  checked and adjusted if necessary,  to the  design cold
inflation pressure of  the  tire.

     D.   The Rolling  Resistance Measurement

     The test consists  of  loading the tire,  a final pressure check;
the  tire warm-up, during  which  the tire  temperature and inflation
are allowed to increase as they should  in typical service; followed
by the rolling resistance  measurement.

          1.    Installation on the  Test Machine

     .The tire   shall  be  installed on  the test machine  if  not
presently installed,  and  the load  on the tire perpendicular to the
test surface  shall be adjusted to 80 percent of the design load of

-------
                               -24-

th e tire.  At this  time,  the  inflation  pressure  of the tire shall
be checked  and adjusted  if necessary.   The inflation pressure
immediately  prior to the  test  shall  be  correct  to  within  0.1  psi
(0.68 kPa) .    The  gauges  used  to determine this  pressure  shall  be
accurate to  within 0.05 psi  (0.34 kPa).

     2.    Tire Warm-up

     The test tire shall  be conditioned  by  operation at a  speed of
50 mph for a minimum of 45 minutes.

     3.    Rolling  Resistance Measurements

     Following  the tire  warm-up and with the  test dynamometer
operating at  50  mph,  the following parameters shall  be recorded:

     a.    Tire spindle force
     b.    Normal  load on the tire
     c.    Loaded  radius of  the tire
     d.    Angular  velocity of the tire

     4.    Measurement of Parasitic Losses

     As  a final measurement, the parasitic  machine  losses  shall be
determined.   The  test machine speed shall  be  maintained at 50  mph
while the load on the  tire is reduced to  the minimum value which
will  maintain  the  angular  velocity  of  tire  measured  during  the
test.   Under this  condition the following  parameters shall  be
determined:                  .

     a,.   Tire Spindle Force
     b.   Normal  load on the  tire

IV.  Data Analysis

     The data reduction consists of  the  correction  for the machine
parasitic loses,  conversion  to a  tire  energy dissipation force,
and  finally the  computation  of the  tire  rolling  resistance  co-
efficient.

     A.    Subtraction of Parasitic Losses
     The spindle force measurement of the machine parasitics losses
obtained  in III. -E^shall be subtracted of the  spindle  forces
measured  during  the test,  III.  £-?.  to  obtain the net  spindle
reaction force.                   P^

     B.   Tire Energy Dissipation Force
          1	 ~   ~"~-              "  ~"    /•

     The tire energy dissipation force  shall be calculated from the
net spindle reaction force by the following equation:

     Fd = FV .(1 + r/R)                                          (1)

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                                  -25-


Where:    F
-------
           -26-
        ATTACHMENT II
            DRAFT
  EPA Recommended Practice
for Grading and Labeling of
 Tire for Fuel Efficiency

-------
                      -27-
                    DRAFT

         EPA Recommended Practice  For
           Grading  and  Labeling  of
          Tires  For Fuel Efficiency
                      by
                Glenn Thompson
                  March 1980
  Standards Development and Support Branch
    Emission Control Technology Division
Office of Mobile Source Air Pollution Control
      Office of Air, Noise and Radiation
     U.S. Environmental Protection Agency

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                               -28-

I.   Introduction

     Tires  have  a significant  effect  on the fuel  consumption  of a
vehicle.JY2_/   This effect occurs  because  the energy dissipation in
the tire  affects  the force required to propel the vehicle and hence
the  fuel consumed  by  the vehicle engine.   Consequently  the  fuel
efficiency of tires may be graded by their  energy dissipation
characteristics.

     This  document provides  a grading classification  system for
tires, and provides the testing requirements necessary  for a tire
manufacturer  to  determine  the  grade  of a  tire  design.  Tires of a
graded design may  be  labeled with  their  determined  fuel economy
grade.   The  final  section of  this document provides  the criteria
for the configuration of the label.

II.  Tire Grade  Classification

     The grade  of a spec ific tire  is to be  determined by the
tire  rolling  resistance  coefficient  according to  Table 1.   The
tire  rolling resistance coefficients (RRC)  are to be  measured
in accordance with the  EPA Recommended Practice for  Determin-
ation of  Tire Rolling Resistance Coefficients.^/

III. Determination  of the Grade of a Tire  Design

     A manufacturer may determine  a  grade  for  a  tire  design
and use this  grade  for labeling all tires  of this design.

     In order to determine  the grade of a  tire design,  a manufac-
turer shall randomly  select  and test  sufficient tires from diverse
production  sites such that there   is 90 percent statistical confi-
dence  that 90 percent of  the tires produced will have rolling
resistance  coefficients  less  than  the  upper  bound rolling resis-
tance of  that grade.UJ

     For example,  if a  manufacturer  wishes  to  determine  a RRC
grade  for  his  "Super  Rounder" tires,  24  sample  tires  might ran-
domly be  selected from  the 4  production lines manufacturing
these tires.   These  24 tires might than be  tested by the EPA
Recommended Practice obtaining the results of Table  2.

     The requirement for  labeling "Super Rounders" as a  grade
A tire is  that  the  value computed from  the  sample data,  such
that  there is  90  prcent confidence  that  90 percent  of  the  tires
produced will have  RRC below this  value is less  than 0.012.
NOTE:   All  references  referred  to  in this paper are shown as   /.

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                     -29-

                  Table 1

 Tire Rolling                   Tire Fuel
  Resistance                    Efficiency
  Coefficient                     Grade

       RRC < 0.012                  A

0.012<^ RRC < 0.014                  B

0.014< RRC < 0.016                  C

0.0l£< RRC                          D

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Measured Tire Rolling Resistance Coefficients
Production Line
Test
Tire No. A
1 .0123
2 .0126
3 .0125
4 .0110
5 .0127
6 . .0126

B
.0113
.0101
.0104
.0132
.0101
.0115

C
.0134
.0121
.0119
.0115
.0133
.0104

D
.0115
.0111
.0113
.0119
.0115
.0134
 Mean     RRC = 0.01182




 Std. dev.  S = 0.00102

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                                -31-

That is:                                              .


          Xu = RRC + K-S  <  0.012                              (1)

Where,

          Xu  = the upper bound such that  there  is  a given confi-
                dence that  a  given  percentage of the tires produced
                will  have  rolling  resistance  coefficients  below
                this value.
          RRC = the mean of  the  measured  rolling resistance coef-
                ficients.

          K   = the "K factor"  (given  in Table 3).

          S   = the sample  standard deviation.

     In this example K for a sample size of 24 is given by Table 3
as 1.712.  Therefore:

          Xu = 0.01182 + 1.712  (0.00102)                         (2)
             = 0.0136

Since Xu >  .0120,  Super-Rounders cannot be labeled grade "A*.   But
.0120 < Xu < .0140; thus, we  are  90 percent sure  that 90 percent of
Super-Rounders have RRC <  .0136  < .0140; consequently Super-Round-
ers can be labeled as  grade 'B1.

IV.  Tire Labeling

     For  any tire  design  meeting  the criteria of section III,
determination  of  the  Grade  of  a tire  Design,  all  tires  of this
design may be labeled  with  their  Fuel  Economy Grade.

     The Fuel  Economy  GRADE  label  shall  be permanently affixed to
the tire  (molded  into  or onto  the  tire would meet this condition)
in a  location which  is conspicious  where  it  is installed on a
vehicle.   The label  may   take  either of the  following  forms,  in
which a Grade B tire is presented as an example.

     "Fuel Economy GRADE B  as Determined By EPA Procedures"

                    "EPA Fuel Economy  GRADE B"

     All  letters  shall  be  of "Futura  Bold, Modified, Condensed or
 Gothic"  type.    The  word  "grade" and  the  letter  designation of
. the  grade shall  be  at least  one-half  inches  (12mm)  tall.   The
 remaining words shall be  in letters at least three-sixteenth
 inches  (5mm) »tall.   Example labels  are  shown in Figures 1  and 2.

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                             -32-
                            Table  3

           Factors For One-Sided Tolerance Limits  For
           	Normal Distributions	

Factors  K such  that there is 90 percent  probability that
at least 90 percent of the  distribution will be less  than X  +
K • S (or greater than X - K •  S), where X and  S are  estimates
of the mean and  the standard deviation computed from  a  sample
size of n.
                   n
                   3                   4.258
                   4                   3.187
                   5                   2.742

                   6                   2.494
                   7                   2.333
                   8                   2.219
                   9                   2.133
                  10                   2.065

                  11                   2.012
                  12                   1.966
                  13                   1.928
                  14         »   '       1.895
                  15                   1.866

                  16                   1.842
                  17                   1.820
                  18                   1.800
                  19                   1.781
                  20                   1.765

                  21                   1.750
                  22                   1.736
                  23                   1.724
                  24                   1.712
                  25                   1.702

                  30                   1.657
                  35                   1.623
                  40                   1.598
                  45                   1.577
                  50                   1.560

-------
f \J E
                        r
      FIGURE 1

-------
.
    FIGURE  2

-------
                                -35-

     The labeling of  tires  is  intended to allow manufacturers  of
truly fuel efficient tires to advertise this beneficial  aspect  of
their tires.   Advertising which uses  the  designated  label  without
proper  adherance to  the  test  procedures, including procedural
documentation,  is prohibited.   Evidence  of such prohibited  label
use will  be  referred  to  the Federal  Trade  Commission  (FTC)  for
their consideration  for appropriate action.

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                                 -36-
                            References

!_/   Klamp, W. K., "Power Consumption of  Tires  Related to How They
     Are  Used,"  Procedings  of  the  1977  SAE-DOT Conference,  Tire
     Rolling  Losses  and Fuel Economy  - An R&D  Planning Workshop.

2/   Yurko, J. "Tire Related Effects on Vehicle Fuel Economy," U.S.
     Environmental Protection Agency Technical Report SDSB.

3f   Thompson, G.  "EPA Recommended  Practice  for Determination  of
     Tire  Rolling  Resistance  Coefficients,"  U.S.  Environmental
     Protection Agency Technical Report (Draft March 1980).

4/   Experimental Statistics  National  Bureau  of Standards:   Hand-
~~    book 91 U.S. Dept. of Commerce (1966).

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              -37-
          ATTACHMENT III
               DRAFT
  Conunents Received in Response to
the Draft EPA Recommended Practices

-------
              -38-
          ATTACHMENT III
  Comments Received in Response to
the Draft EPA Recommended Practices

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                                 -39-

                             IVITS SYSTEMS  CORPORATISM
                             BOX 24O12. MINNEAPOLIS. MINNESOTA 55424
                             TELEPHONE 612-844-4000 TELEX 29-0521 CABLE MTSSYSTEMS
15 April 1980
Mr. Charles L. Gray Jr.
Director                       •
Emission Control Technolgy Division
United States Environmental Protection Agency
Ann Arobr, MI 48105

Subject:  EPA Recommended Practice for Grading and Labeling
          of Tires for Fuel efficiency, EPA Recommended
          Practice for Determination of Tire Rolling  Resistance
          Coefficient; March 1980

Dear Mr. Gray:

ThiS"±s to communicate my thinking concerning the subject test
and grade labeling procedures, as follows:

  1.  The machine alignment accuracy range specified  in
      paragraph II.Al of the proposed EPA Grade Labeling
      procedure will result in machine to machine differences
      at least 5 times larger than the EPA Proposed Tire  Fuel
      Efficiency Grade ranges.  More particularly, an Fx  align-
	...  , ^ent error of Fx error = P sin +0.3
       ~             where P = tire load
      will result in a rolling resistance coefficient error
      range of      RRC  =  FX error B s±n  (+Q>3) _ sin  (_0>3)

                    error      p
                    range
                         = 2 sin 0.3
                         = 0.0105

      In fact the entire range from A thru D of Table 1 of the
      Proposed Grading and Labeling Procedure is only 0.016  -
      0.012 = 0.004.  I suggest that one of the following four
      courses of action be pursued.

      A)  Specify machine alignment to +0.03°, producing  a cross-
          coupling error range of 0.00105.  This is still a  size-
          able error of 1 Ib. per 1000 Ibs. of F  tire load.
                                                z

     tB)  Specify that test be run both clockwise and counter-
          clockwise and the results averaged to remove the cross-
          coupling bias error.

      C)  Measure and eliminate the cross-coupling error  using
          suitable calibration procedures.

-------
                               -40-
      D)   Test using sensing techniques that are insensitive to
          the load application alignment (e.g. ,  roadwheel drive
          torque/ carriage reaction measurement) .

  2.  The specification of only a 67.23 inch diameter roadwheel .
      machine unduly restricts the adoption of today's new
      generation of flat surface testing machines.  An example
      of such a machine is shown on pages 4 and 5  of the en-
      closed product brochure,  "MTS Tire and Wheel Testing Cap-
      abilities."  There are currently six such machines on
      order, two of which have rolling resistance  measurement
      capability with one of these to be shipped within the
      month.  Previously experienced tire support  bearing pro-
      blems cited in EPA test reports have been solved on this
      machine and, although this system has not yet been widely
      distributed in the tire industry, it is now  a practical
      reality.

      I suggest that the following SAE statement be added to para-
      graph II. 2, "The Development of Preferable Flat Surface
      Laboratory Apparatus is progressing a pace which may soon
      bring it into common use.  The recommended practice is writ-
      ten in such a way that it can be used without modification
      when such equipment becomes commonly available."

  3.  Paragraph III.A2 and III.Dl do not agree as  to tire pres-
      ,sure accuracy specified.

  4.  .Reference to paragraph III.E3 and III.E2 in  paragraph IVA
      should read III.D3 and III.D2.

Thank you for the opportunity to respond to the subject proce-
dures.  If I may be of further service in clarifying these matters,
please contact me at 612/944-5409.

Sincerely yours ,

  S SYSTEMS CORPORATION
Gerald R. Potts
Manager
Tire/Wheel Test Systems

GRP/jmr

cc :  Glenn Thompson - EPA

Encl: MTS Brochure 114.08-02
      MTS Tire and Wheel Testing Capabilities

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          LAND
          SEA
          AIR
          SPACE
-41-
Society of Automotive Engineers, Inc.
Committee:
Rolling Resistance Sub-Committee
               Reply To:
         T. P. Baker, Chairman
         SAE Rolling Resistance Sub-Committee
         Uniroyal, Inc.
         6600 E.  Jefferson Ave.
         Detroit, Michigan  U8232
 Mr.  Charles  L. Gray, Jr., Director
 Emission Control  Technology Division
 United States Environmental Protection Agency
 Ann Arbor, Michigan  U8105
                                                April 1U, 1980
 Dear Mr.  Gray:

 Thank you for your recent letter and the two attached Draft Recommended Practices
 for the Measurement  and the Grading of tires for Rolling Resistance.  I am
 very pleased to have this opportunity to respond, on; behalf of the SAE Tire
 Rolling Resistance Sub-Committee.  My comments are as follows:

 We are very pleased  that the EPA has recognized the merits of our SAE Rolling
 Resistance Measurement Procedure for Passenger Car Tires - SAE J12o9 by
 adopting  many of its features as the framework for the EPA Draft Procedure.
 We believe that with present technology a steady state test of this nature is
 quite satisfactory for the purpose you intend.  SAE J1269 has the added
 advantage that  it is a familiar test and already widely accepted, as you
 mention in your letter.

 With regard to  in-use and test inflation pressures, I would like to point out
 to you that the pressures specified in J1269 were arrived at in anticipation
 of higher pressures  being adopted generally throughout the automotive industry,
 and by the motoring  public.  Our intention was to draft a document which would
 be in tune with the  1980*s, as opposed to one whose pressures would soon be
 obsolete.  To the extent that the industry has been slower than we expected
 in making this  change, our recommended pressures are ahead of their time.

 Time has  not stood still, however.  Manufacturers are specifying higher pressures
 for some  new vehicles and more will be added to the list in the 198! model
 year.  In addition,  the public is receiving more and more messages extolling
 the virtues of maintaining higher inflation pressure for safety, fuel economy,
 and treadwear.   Therefore, it is likely that T&RA design pressures are no
 better a  reflection  of in-use pressures than are the J1269 pressures at the
 present time; a*nd in-use pressures may approach J1269 pressures as time goes on.

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                   J.  VJJLCIJ,  Wi»,  */J.J. v,._v/w.k     •  •-
       Emission Control Technology Div.
       U.S.  Environmental Protection Agency    -42-
       Ann Arbor,  Mich.
       In view of the foregoing,  I would encourage the EPA to publicly  endorse  higher
 ,      inflation pressures and to help  lead the way  by adopting higher  pressures  in
       the Draft Recommended Practice.   To do  otherwise  implies satisfaction with
       lower pressures,  which I am sure you do not intend.

       The EPA Draft Measurement Procedure is  more restrictive than J1269  in several
       important features which we believe should be broadened to include  current
       practices.  One is the specification of the tire  spindle reaction force
       measurement,  which implies the exclusion of the torque method  and the energy
.f      method.  The  torque and energy methods  are in widespread use,  and are
     .  demonstrably  as reliable as the  force method.  Therefore, we can see  no
       reason for their exclusion.

       Another unnecessary restriction  is the  requirement  of a break-in run  for all
       tires,  whether they need it or not.  We suggest that only tires  which under-
       go significant permanent growth  need be broken in,  and that  the  break-in be
       omitted where supporting evidence can be produced to justify the omission.

       The EPA Draft Test Procedure  calls for  the measurement of parasitic losses by
       what we know  as a "skim reading".  Many laboratories have found  that  a "skim
       reading" is not as reproducible  as a "machine reading" in which  the tire is
       removed completely from the test surface.  The difference, of  course, is in
       the tire spindle bearing loss and the aerodynamic loss of the  tire, as
>-     explained in  SAE J1270,  section  7-1-  For  the sake  of more reliable end
       reproducible  test data we recommend that the  EPA  Draft be modified  to allow
       the use of a  "machine reading" which is current practice in  most rolling
       resistance test laboratories  today.

       Another point of difference,  which may  at  first seem trivial,  is that the  EPA
       Draft calls for loading the tire prior  to  the cold  inflation pressure check;
       whereas the SAE procedure is  unclear as to the sequence of these events.
       In actual practice,  most test laboratories make the pressure check  prior to
       loading the tire.  In some cases it makes  little  difference  to the  test
       operator which comes first; but  in laboratories where the test is operated
       from a remote location,  sometimes even  from another room the requirement of
 . ,    loading first and then checking  pressure imposes  a  penalty on  test  efficiency.
' >     We agree that the sequence should be specified, but we recommend that it be
       specified in  the opposite order  in order to bring it into line with current
       practice.

       I have only one comment on the EPA Draft for  Grading and Labeling.  It concerns
       an apparent inconsistency between the definition  of the grades as given  in
       Table 1 and the procedure for establishing a  grade  as given  in Section III,
       paragraph 2.   Although the grades in Table 1  have upper and  lower bounds,
 -V    only the upper bound is used  to  establish  a tire's  grade.  Furthermore,  Grade
       D has no upper bound to compare  the test results  to. I think  the intention
       of the Draft  can be inferred  by  the reader, but it  needs more  work  to make it
       unambiguous in this area.

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U.S. Environmental Protection Agency
Ann Arbor, Mich.
                                         -43-
I trust these comments will prove useful to you as you give further attention
to this subject.


                                           Sincerely,
                                           T. P. Baker, Chairman
                                           SAE Rolling Resistance Sub-Committee
cc:  Mr. R. T. Northrup - SAE

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                                   -44-
                                        1465 N. Hametown  Road
                                        Akron, Ohio  44313
                                        April 17,  1980
Mr.  Charles L.  Gray,  Jr.,  Director
Emission Control Technology Division
United States Environmental Protection Agency
Ann Arbor, Michigan 48105

Dear Mr. Gray:

     We received a copy of your  letter and Glenn Thompson's  drafts  from Gerald
R. Potts of MTS through ASTM.  With the  exception of one  procedural comment
all other comments will be technical.  The exception is that:   either desired
deadlines should be extended or  a more prompt means of communication should be
established as many of us  never  see the  Federal Register.

     Our technical comments will refer to Glenn Thompson's draft, "EPA Recom-
mended Practice for Grading and  Labeling of Tires for Fuel Efficiency," March,
1980.                       ••    .   ••

Page la, III.  Determination of  the Grade of a Tire Design

     We basically agree with the statistical idea of deciding  the grade for a
tire design, but do see significant problems:  the scheme of tire grading,  the
method of sampling, certain statistical  points, and labeling difficulties.

     The scheme of tire grading  into  four distinct categories  does  not reward
those who improve their product  within a grade, it unduly punishes  those who
are only slightly worse, and it  could lead to endless haggling and  law suits.
We would like to amplify these points by bending Glenn Thompson's example.
     Let us suppose that company "A"  makes  "super  rounders" and company "B"
makes "maxi-tractions."  Suppose now  for simplicity  that "super rounders" and
"maxi-tractions" have precisely identical standard deviations,  S = 0.00102,
but different means.  Also assume that we are  using  the proposed grades in
Table I with the necessary misprint correction that  for grade D, 0.016 ^ RRC.

     Suppose that for "super rounders," RRC_=  0.01030,  then their X  = 0.01205
(grade B) and that for "maxi-tractions," RRC = 0.01215, then their k  = 0.01390
(grade B).   Is the difference significant?  Yes.   Is Company "A" rewarded
competitively for a better job?  No.   The customer is misinformed.

     Suppose now that for "super roundersA"_RRC =  0.0102, then  their X  = 0.01195
(grade A) and that for "Maxi-tractions," RRC = 0.0103,  then their X  =U0.01205
(grade B).   Is the difference significant?  No.  Isn't  company  "B" at an
exaggerated competitive disadvantage  with respect  to company "A"?  Yes.  The
customer is misinformed.

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                                   -45-

Mr.  Charles Gray,  Jr.               Page  2               April  17,  1980


     For the preceding two cases  the  use  of actual numerical grades  similar in
form to the EPA estimated fuel  economy  for  automobiles  would serve to better
inform the customer and to foster competition.  To best use numerical grades
point of sale information like  the estimated fuel economy brochure should be
used instead of molded-on grade labeling.   We believe  this would be  advisable
for other reasons  and  will return to  this  subject a bit later.

     Suppose that  company "A"  tests its sample  of "super rounders" and gets
RRC = 0.0102, then_their X  =  0.01195 (grade A) and that later EPA tests a
sample and gets RRC =  O.Oltb,  then their  X   = 0.01205  (grade B).  Are the
answers significantly  different?   No.  Will an  insuing  fight over  this help
anyone?  No.  Therefore, we should seek a way to prevent this  type of thing
from occurring. Again numerical  grades might help by  not creating sharp
arbitrary distinctions which blow insignificant differences up to  monumental,
time wasting, arguments.  Also, it really won't help customers if  companies
must be hyper-conservative in  self defense.  NHTSA has  already been  concerned
with how grades are set for UTQG  wear ratings.  They are looking at  self
defense in the face of uncertainty.

     Of course, the validity of the whole procedure depends on adopting a
standardized sampling  method for  use  by both industry  and the  EPA.

     Practical considerations  and past  experience indicate that the  same tire
design made in different plants is going  to vary in rolling resistance, depending
on where it is made.  Larger size tires usually have somewaht  lower  rolling
resistance coefficients (RRC)  than smaller  sizes, everything else  being equal
and since all sizes are not in production at once, tire age must be  considered.
Therefore, the 90% confidence  level value will  depend  on how the sample is
taken.  Ideally, all plants and all sizes  should be weighted to reflect the
contribution of each plant and each size  to the total  population of  that given
tire design.  But  this would be a very  unwieldy, perhaps impossible, situation.
A simple, reasonable cost, sampling technique is, thus, an absolute  prerequisite
to implementation.       .                                                     .

Page 4a, IV. "Tire Labeling"

     We have just  suggested that  point  of sale  information be  used not molded
on labeling.  If,  however, molded on  labeling does indeed occur, it  would be
very desirable if  the  various  agencies  would get together and  look at what
already exists.  Standardization would  be very  nice, and if we keep  going
willy nilly, the companies will run out of  space on the sidewall*

Page Ib, II. "Test Equipment^

     It would be well  to recognize other types  of  test equipment as  well as
the spindle force  type in the  standard.  There  are not many spindle  force
machines now in existence.  Spindle force machines are physically  fragile in
routine use as will be pointed out below.   SAE  J1269 NOV79 recognizes other
methods.

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                                     -46-

Mr. Charles Gray,  Jr.                Page 3               April 17,  1980


Page Ib, I.IA1.  "Test Machine Alignment"

     For a spindle force machine we  do not  believe  that the stated tolerances
which are from SAE J1269 are adequate..  A load  alignment error of  0.3° which
is allowed in the  proposal will produce an  interaction of 5.74 lbs/1000 Ib
load.  This is quite high, about 1/2 of the actual  data amplitude.  Inter-
actions should be  limited to a  much  lower order,  about 0.2 Ib per  1000 Ib, and
still accounted for.  We would, therefore,  recommend  the load be normal to the
surface within 0.01°.   It is worth noting that  the  preceding comments illustrate
that the spindle force machine  is very sensitive  to small misalignments.

     The procedure specifies that slip angle, wheel plane alignment parallel-
ness to the test surface direction of motion, must  be less than 0.1°.. A 0.1°
slip angle could cause a drag error  of 0.21b, which is greater than the speci-
fied accuracy.   Furthermore, tires are usually  a  little assymetrical with
respect to slip angle, so a slip angle to the right could have a different
effect than a slip angle to the left. Usually  the  minimum value of drag
occurs at some small value of slip angle in a given direction.  We would
suggest that slip  angle be within 0.01°.

     For consistency we would make the wheel plane  to test surface angle, 90°
to within 0.01°.

Page 2b, IIA3.  "Test Machine Instrument Accuracy"

     The spindle force accuracy of 0.1 Ibf  will require the use of very light
duty load cells preferably 100  Ibs or less. This requires very careful design
and operating procedures to avoid incessant breakage.  This is a cautionary
note based on our  own experience with very  light  duty load cells in tire force
measuring heads.

Page 2b, IIB1.  "Thermal Control"

     Not many machines are now  in air conditioned environments. Time for
putting the machines in such environments must  be allowed or else  it might be
better to use a 100°F environment as used for endurance testing.  This envi-
ronment is already widely available.

Page 4b, IIID1. "Installation on the Test Machine"

     The pressure  gauge which meets  SAE J1269 doesn't really exist.  There is
a definite precision problem even for electronic  gauges in measuring to ±0.05
PSI while covering a range up to over 60 PSI.   We are also concerned that
measuring the pressure will produce  changes in  excess of the intended infla-
tion precision for the test, 0.1 PSI. This is  an area that needs  careful
attention so that a realistic standard can  be drawn.   In our own work, we try
for .an inflation accurate to within  0.25 PSI which is one part in  one hundred
for the lowest test pressure we use.

Page 4b, IIID4. "Measurement of Parisitic Losses"
                 *
     The tire angular velocity  depends on  load.  It will go down as load
decreases.  Thus,  an unchanged  angular velocity cannot be called out in the

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                                     -47-
Mr. Charles Gray,  Jr.                Page 4              April 17,  1980


process of attempting to measure windage or bearing losses..   It would be
better to call out a measure of angular velocity variation or to use a com-
pletely unloaded condition as the tare condition.

Page 4b, IVA. "Subtraction of Parasitic Losses"

     E3 should be D4 and E2 should be D3 .

     The comments in this letter are our own and shou.ld not be construed as a
statement of position by our employer, The BFGoodrich Company.

                                        Sincerely,
                                                           _.
                                       .Marion G.. Pottinger.
                                                         '
                                        Nicholas M.  Trivisonno
MGP/NMT/cs
2Z

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                                        -48-
RUBBER  MANUFACTURERS ASSOCIATION
1901 PENNSYLVANIA AVE., N. W.  •  WASHINGTON, 0. C. 20006 •  (202)735-2602
                                                   May 23, 1980
Mr. Charles Gray, Director
Emission Control Technology Division
Environmental Protection Agency
2565 Plymouth Road
Ann Arbor, Michigan 48105

SUBJECT:  1)  EPA Draft Recommended Practice for Determining Tire
              Rolling Resistance Coefficients

          2)  EPA Draft Recommended Practice for Grading and
              Labeling of Tires for Fuel Efficiency	

Dear Mr. Gray:

On March 24, 1980 we received your undated letter which contained copies  of
the two subject documents.  We are pleased to note that the draft test
procedure is similar to SAE J1269 Recommended Practice, Rolling Resistance
Measurement Procedure for Passenger Car Tires.  However, since the  SAE
J1269 does not include procedures for truck tires, we have restricted our
comments to include passenger car tire rolling resistance considerations
only.

There are some technical reservations we have concerning the EPA draft
grading system which we have not addressed here, since we believe that we
should first try to resolve the technical details of the test procedure.
Once these have been settled, your proposed grading system can then be
adequately evaluated for technical comment.

Specific comments concerning the EPA draft test procedure follows:

     II.          The EPA Draft measurement procedure is more restrictive
                  than SAE J1269 and should be broadened to include
                  current practices.  The specification of the tire
                  spindle reaction force measurement implies the exclu-
                  sion of the torque method and the energy method.  The
                  torque and energy methods are in widespread use,  and
                  are demonstrably as reliable as the force method.
                  Therefore, the EPA specification should be revised to
                  include as alternatives both the torque and energy
                  methods.

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                                         -49-
Mr. Charles Gray
Environmental Protection Agency
May 23, 1980
Page Two
                  SAE Paper 780636 ("Interlaboratory Tests for Tire
                  Rolling Resistance"  by D.J.  Schuring and S.K. Clark)
                  discusses machine to machine variability.  Absent a
                  calibration method,  grade ranges would have to take
                  into account anticipated machine to machine variability.

     II.B.I.      Federal Motor Vehicle Safety Standard 109 requires that
                  the air surrounding  the test area be 100 +_ 5°F.   Since
                  it would be practical and necessary in some cases to
                  conduct rolling resistance tests at .the same location
                  as the FMVSS 109 tests, II.B.I.  should be revised to
                  permit other room testing conditions, provided a
                  suitable conversion  is used to compensate for the
                  different conditions as permitted by paragraph 4.6.1
                 > of SAE J1269.

                  Conversion from english to metric units should be made •
                  in accordance with recognized practice.  It appears that
                  the implied temperature measurement precision in Celsius
                  is greater than that required in the Fahrenheit units.
                  We suggest that temperatures in Celsius be rounded to
                  the nearest 0.5° which is approximately the same implied
                  precision as 1°F. In this case as well as in other
                  places in the specification, conversion from metric to
                  english should be made .in accordance with recognized
                  practice.

     III.A.I.     It is not certain what the effect of wide versus narrow
                  rim width is on rolling resistance.  Consequently, it
                  is recommended that  test rims be those specified by
                  the Tire & Rim Association,  Inc. as "design rim width,"
                  +_ one-half inch.

                  For tire sizes not standardized by the Tire & Rim •
                  Association, Inc., reference should be made to the
                  standardizing organizations listed in Federal Motor
                  Vehicle Safety Standard 109.

     III.A.2.     The inflation pressures should be rounded to the nearest
                  whole number, whether in metric or. english units, to be
                  consistent with recognized practice.  In the case of
                  P-type tires therefore, 26.1 psi should be changed to
                  26 and 31.9 psi should be changed to 32.
              »
                  We have noted that certain typographical errors contained
                  in the preprint of SAE J1269 have been carried over

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                                        -50-
Mr. Charles Gray
Environmental Protection Agency
May 23, 1980
Page Three
                  into your document,  for example,  41.4 kPa should be
                  414 kPa, 68 kPa should be 6.9 kPa.

                  The test pressures specified in SAE J1269 (32 psi for
                  alpha-numeric and 35 psi for P tires) is considered to
                  be more representative of current and near future
                  recommended inflation pressures for new vehicles.
                  Also, tire manufacturers and others are recommending
                  higher tire inflation pressures for improved fuel
                  economy and treadwear.   Consequently, we believe test '
                  pressures more consistent with the capped pressure of
                  paragraph 5.2 of the SAE recommended practice and tire
                  industry recommendations are preferable.

                  Since T-type tires and collapsible spare tires are
                  intended for use one tire at a time over short dis-
                  tances until the vehicle owner can repair the standard
                  tire on his car, their use on a continuing basis
                  should not be encouraged by including them in your
                  rolling resistance considerations.   Although SAE J1269
                  encompasses all kinds of passenger car tires, inclu-
                  sion of temporary spare tires will not impact on
                  energy conservation.

     III.B.       Tires vary widely in their rate of growth during
                  break-in.  In SAE J1269, the need for break-in is left
                  to the judgment of the tester depending on the nature
                  of the tire being tested.  Similarly, the draft proce-
                  dure should be revised to permit the tester to deter-
                  mine the need for break-in.  Data available at this
                  time indicate that radial tires do not require any
                  break-in to stabilize tire dimensions.

     III.D.I.     In most testing facilities it is impractical to check
                  inflation pressures  while the tire is loaded on the
                  test machine.  Since there is no significant difference
                  between inflation pressures measured while the tire is
                  loaded versus unloaded, checking inflation pressure
                  when the tire is unloaded should be specified in accor-
                  dance with typical test practice.

                  The inflation pressure accuracy is unnecessarily
                  restrictive for the requirements of the .draft test
                  procedure.  To be consistent with our comments under
                * III.A.2., we believe the inflation pressure accuracy
                  should be 1 psi (7 kPa).  Therefore, the gauge
                  accuracy should be 0.5 psi (3 kPa).

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                                        -51-
Mr. Charles Gray
Environmental Protection Agency
May 23, 1980
Page Four
     III.D.4.      The EPA draft calls  for measurement of parasitic loss
                  by what is commonly  called "skim reading."   Many
                  laboratories measure parasitic loss by "machine
                  reading."   The different test equipment currently in
                  use in the industry  requires that the alternate
                  parasitic  loss methods contained in paragraph 6.6.1
                  and 6.6.2  of SAE J1269 be permitted.   Choosing only
                  one method unnecessarily forces the selection of
                  specific test equipment.  '

     IV.A.        There are  apparent typographical errors in  this para-
                  graph:  E.3 should be D.4;  E.2 should be D.3; "of" in
                  the second line should be "from."

                                   Sincerely,
                                    lomas E.  Cole
                                   Vice President
                                   Tire Division
TECAk

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  1909 K STREET. ,M W. SUITE 300            '                        .                         366 MADISON AVENUE
   WASHINGTON. O.C 20006                            ~~52_—                            NEW YORK. NEW YORK 10017
                    MOTOR VEHICLE MANUFACTURERS ASSOCIATION
                                     of the United States, Inc.
                   300 NEW CENTER BUILDING • DETROIT, MICHIGAN 48202 • AREA 313-872-4311
 BROOKS McCOKMICK. Chairman
 V. J. ADDUCI. President and Chief Executive Q/"/7«r
 THOMAS H. HANNA. Senior Vice President
                                                     April 28, 1980
         Mr. Charles  Gray,  Jr.,  Director
         Emission Control Technology Division
         U. S. Environmental Protection Agency
         2565 Plymouth  Road
         Ann Arbor, Michigan  48105
         Dear Charles:
              MVMA  appreciates the extensions  of  time you granted  to  allow
         preparation of our comments on the Draft of the EPA Recommended
         Practice for Determination of Tire Rolling Resistance Coefficients.
         These  comments are attached.

              The vehicle manufacturers will comment individually  on  the
         Draft  of the EPA Recommended Practice for Grading and Labeling of
         Tires  for  Fuel Efficiency.

              If you or your representative would like to discuss  these
         comments with the appropriate industry personnel, we will be pleased
         to arrange for such a meeting.

                                                     Sincerely,
                                                     Harry By Weaver
                                                     Assistant Director, Engineering

         AES/kd                              .
         Attachment
TWX NO. 710-322-9245 AUTOMAKERS VVSH.

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                                  -53-

                    Motor Vehicle Manufacturers Association
         COMMENTS  ON DRAFT EPA RECOMMENDED PRACTICE FOR DETERMINATION  OF
                      TIRE ROLLING RESISTANCE COEFFICIENTS
II.A.2.     Test  Machine Control Accuracy

           .   SI Unit  should be 1.6 km/h
II.         Test  Equipment
IV.         Data  Analysis

              In addition  to  force  techniques, others such as torque  and
              energy should be  allowed as discussed in  SAE Recommended
              Practice J-1269 "Rolling Resistance Measurement Procedure
              for Passenger Car Tires."

III.A.2.    Inflation Pressure

              Eliminate "T" Type  Tires since these are  temporary usage
              tires.

              Alpha Numeric Size  Tires should be tested at 32 psi  and
              equal loads, in order to avoid the rank ordering within
              the various  tire  load ratings.                           .

              "P" Type Tires  should be tested at 35 psi and equal  loads,
              in order to  avoid rank ordering within the various tire
              load ratings.

           .   Typographical errors:   41.4 kPa should be 414kPa, and
              68 kPa should be  6.8  kPa.

III.B.     Tire  Break-in

           .   Change title to "Tire Break-in for Non-Radial Tires" and
              reflect this in the first  sentence.

III.D.I.    Installation on the  Test Machine

              Set tire pressure prior to loading of the tire  to
              protect the  operator

III.D.S.d. Rolling Resistance Measurements

              The angular  velocity  measurement on  the  tire requires
              instrumentation additional to the SAE practice, and  is
              not necessary  for the determination  of parasitic  losses.
                                                                  4/28/80

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                                      -54-
III.D.4.    Measurement  of  Parasitic Losses

              The parasitic  machine loss  skimming method contained  in
              the draft may  cause  variations and therefore  is not
              adequate.

IV.A.       Subtraction  of  Parasitic Losses

           .   III.E3 should  be III.D4,  and  III.E2 should be III.D3.
                                                                  4/28/80

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                                          -55-
COMMITTEE F-9
ON
TIRES
                                      I

ASTM, 1916 Race St., Philadelphia. PA 19103 (215) 299-5400
Choirmon: H. G. SCHWARTZ, E. I. do Ponl de Nemours and Co., Inc., 4330 Allen Rd.. Stow, Ohio 44224 (216-929-2941)
fittl Vice-Chairman: D. M. CODDINGTON, Exxon Chemical Co., Elastomers Tech. Div., 1600 linden Ave., linden, N.J. 07036 -(201-474-3365)
Second Vice-Choirmon.- J. W. DAVIS, Cooper Tire & Rubber Co., Western S, lima Aves., Findlay, Ohio 45840 (419-423-1321)
Recording Secretary: WAITER BERGMAN, 33664 Cindy, livonia, Mich. 48150 (313-323-1194)
Membership Secretory.- J. R. WEST, Continental Carbon Co., Box 22085, Houston, Tex. 77027 (713-965-5224)
Staff Monoger.- R. M. SHERWOOD (215-299-5510)
                                                                  April 21, 1980

    Mr.,Charles L. Gray,  Jr.,  Director
    Emission  Control Technology Division
    United  States Environmental Protection Agency
  •  Ann Arbor,  Michigan  U8105

    Dear  Mr.  Gray:

    Mr. Gerald R.  Potts,  Chairman, Subcommittee F9.20,  ASTM Committee F-9,  on
    Tires transmitted your recent letter with attached  drafts of the EPA Recom-
    mended  Practices  (a)  for  Grading and Labeling of Tires for Fuel Efficiency,
    and  (b) For Determination of Tire Rolling Resistance  Coefficient to F-9.20
    Committee members and asked them to  respond directly to you.

    In response to Mr.  Potts'  request, I am forwarding  to you my comments to the
    proposed  EPA Recommended  Practices.

    (a)   EPA Recommended  Practice for Determination  of  Tire Rolling Resistance
          Coefficients.

          1. The values  of inflation pressure specified  in the proposed procedure
            do not reflect a  current trend showing an increase in tire pressure
            by the industry and driving  public and,  therefore, may become obsolete
            in the near future.  It is recommended to increase these values.

          2. Loading the tire  prior to checking inflation pressure is undesirable
            because it  may reduce test efficiency.   An  inverse sequence, commonly
            used by most  test laboratories, is recommended.

          3. Requirements  for  determination of tire energy dissipation force from
            measured values of spindle reaction force introduce  unreasonable re-
             striction in  the  test procedure.   It is  recommended  to specify  the
             torque and  energy methods as alternatives to spindle reaction force
            measurements.

          If. Measurement of parasitic losses on the tire contacting the drum surface
            may adversely affect precision of measurements.  To  improve precision
             it is recommended to perform the measurement on a  tire completely dis-
             engaged from  the  drum surface.
                                                        Standards for Materials. Products. Systems & Services

-------
                                    -56-

                                      2


     5.  Rolling resistance coefficient vary with ambient temperature.  1°F
        increase of temperature produces approximately O.k% decrease of rol-
        ling resistance coefficient.  To illustrate the significance of the
        effect of temperature variations within the +5°F limits specified
        in  the proposed procedure, it is assumed that the value of coefficient
        at  75°F is equal to  .012;  then the values of rolling coefficient
        at  temperatures of 70°F and 8o°F become:

                 C   = .012 (1 + 0.00^ (75-70) ) = .0122 (Grade B)

                 Cgo = .012 (1 + 0.00k (75-80) ) = .0117 (Grade A)

        Since such temperature variation significantly effect the value of
        rolling resistance coefficient which even results in change of tire
        grading, it is recommended that rolling resistance coefficient should
        be  corrected for change of ambient temperature and normalized to a
        nominal temperature.

     6.  There are few typographical errors in the proposed draft.  Surface
        speed specified in Section II A2 is 1 Km/h instead of 1.6 Km/h.
        Inflation pressures  specified in Section III A2 are Ul.U kPa instead of
           kPa and 68 kPa instead of 6.8 kPa.
(b)   EPA Recommended Practice for Grading and Labeling of Tires for Fuel
     Efficiency.

     1.  Limitations of applicability of rolling resistance coefficient  of a
        free rolling tire as a criterion for grading of tires for fuel  effici-
        ency of driven automobiles should be clearly stated in the introduction
        to  the Proposed Recommended Practice.  The reasons for this statement
        are explained in the following discussion.

        Tires have a significant effect on the fuel consumption of a vehicle
        because of the energy dissipation in the tire.  Energy dissipation in
        the tire results from deformation of the tire produced by forces trans-.
        mitted through the tire.  Load carried by the tire produce vertical
        deformation.  Energy dissipation due to this deformation constitute
        rolling resistance.

        Driving forces propelling the vehicle produce circumferential deforma-
        tion.  Circumferential deformation produced by driving forces not only
        cause a direct energy dissipation due to this deformation, but  also
        tend to modify pressure distribution along the length of tire contact
        which results in shifting the point of application of the resultant
        vertical force forward.  This shift tends to further increase tire rol-
        ling resistance.  Therefore, energy dissipation in the driven tire is
        considerably greater than that in the free rolling tire.

        Furthermore, tires generate lateral forces which are necessary  for
        directional control of a vehicle and for maintaining direction  sta-
        bility.  These forces result from lateral deformation of the rotating
        tire operating at a slip angle.  Additional dissipation of energy in a
        tire occurs during this process.  Since vehicle continuously tends to
        change its direction of motion even in so-called "straight ahead"
        driving, energy dissipation due to lateral deformation continuously takes
        place.  Vehicle fuel consumption is influenced by the total energy dissi-
        pation resulting from vertical, circumferential, and lateral deformation
        of  the tire.

-------
The magnitude of these deformations and consequently the magnitude
of energy dissipation are effected by vehicle operating conditions,
environmental conditions, and tire construction.   Tire vertical, cir-
cumferential, and lateral stiffnesses may be  consideredas major tire
design factorsaffecting tire deformations and energy dissipation.
Tire grading for fuel consumption based exclusively on rolling resis-
tance (vertical deformation) can be justified only if one would assume
that tires showing low or high energy dissipation in a free-rolling
mode also display correspondingly low or high dissipation in other tire
modes and particularly in driving modes.  Since there is no evidence
supporting such an assumption, grading of tires for fuel consumption
based on rolling resistance should be limited only to tires used on
towed vehicles and cannot be used for tires used on driven automobiles.

To evaluate the proposed EPA grading system,  five different tires
tested in three different laboratories (identified as Facilities F,
G, and H in the SAE Paper 780636) were graded in accordance with this
system..  Test data used for grading was obtained from tests conducted
on a 6?" diameter drum in accordance with the EPA Recommended Practice
of 50 mph speed, 2k psi inflation pressure, and 80% rated load.  The
rolling resistance force was determined from  the  measured value of drum
torque in Laboratories F and G,  and from the  spindle force in Laboratory
H.  Measurements in different laboratories were conducted at different
ambient temperatures but the reported values  of rolling resistance force
were corrected to a common temperature of 70°F.  The values of rolling
resistance coefficient were calculated from measured values of rolling
resistance force and corrected to 70°F temperature as follows:

          RRC75 = RRC70 (1 + O.OOU )70-75) )

The upper limit (X ) of rolling resistance coefficient was determined
in 'accordance to the EPA Recommended Practice.  Because of lack of actual
data, I assume that the value of standard deviation for each of the test
tires is equal to O.OOOMl and the sample size is equal to 2k.  By using
these assumptions I determine the value of K-factor from Table 3 in the
proposed EPA Recommended Practice, K = 1.712.  These values were used
for calculation of the upper limit of rolling resistance coefficient for
all five tires.  Calculated values are summarized in Table 1, which also
contains a complete data necessary for these  calculations.  The values of
the upper limit of rolling resistance coefficient were used for grading
of tires for fuel efficiency.  The grading was performed in accordance
with the proposed EPA Recommended Practice.   The  results of grading are
summarized in Table 1.

Table 1 shows that tires tested in three different laboratories re-
ceived the same grading.  Radial tires received grading B and C:  how-
ever, all bias and bias-belted tires received the same gradeD.  Un-
fortunately, the values of rolling resistance coefficient of bias and
bias-belted tires were beyond the lower limit of the grading scale.
Therefore, in spite of considerable difference between the rolling
resistance values of these tires, they received the same grading.  To
enable one to grade the bias and bias-belted  tire, it is recommended
to expand the proposed grading scale as it is shown in Table 2.  By
applying the expanded scale.for grading of tires, whose data is sum-
marized in Table 1, one. may find that bias-belted tires received higher

-------
                                     -58-
       grades  than the bias tire.  Furthermore, it was also possible  to  dif-
       ferentiate between the fuel efficiency of two different bias-belted tires,
       A78-13  and L?8-15, which received grade E and D, respectively.  Tire
       grades  established by using expanded scale are also incorporated  into
       Table 1.  The  expanded scale also has an additional grade  AA at the upper
       end of  the scale.  The addition of this grade will give tire manufacturers
       an  incentive to further improve tire fuel efficiency.

    3.  If  sufficient  evidence exists that the rolling resistance  coefficient of
       a free  rolling tire can be used as a reliable criterion for  grading of
       free rolling-as well as driven tires for fuel efficiency,  grading of
       tires then may be used as a guide for selection of tires for fuel effici-
       ency.   However, it is still doubtful that the proposed grading and labeling
       of  tires will  satisfy the needs of a consumer.  In order to  decide which
       tire to buy, the consumer probably would like to know how  much gasoline
       he  is going to save by purchasing higher grade tires.  The difference in
       average fuel consumption for different grade tires determined  perhaps at
       conditions used for specifying vehicle fuel consumption (EPA fuel mileage)
       should  be stated in order to provide customers with a meaningful  guide.
       Furthermore, it is also important to evaluate possible benefits of grading
       of  tires against expenditures (testing, labeling, etc.).   It would be
       highly  objectionable if grading tires for fuel efficiency  became  another
       contributor to the problem of national inflation.

    h.  There is a typographical error in Table 1, which shows that  for Grade D
       tire, the rolling resistance coefficient should be RHC > 0.016  instead of
       RRC> 0.015.

I hope  that my comments may be useful to you.

                                                 Sincerely,
                                                 V. Bergman/  .

-------
                                        -59-
                  TABLE 1 - GRADING OF TIRES FOR FUEL EFFICIENCY
Rolling Resistance Force (ib)
Vertical Load - Lb.
Rolling Resistance Coefficient
  at 70°F
Rolling Resistance Coefficient
  at 75°F
Upper Limit of RRC at 75°F
Fuel Efficiency Grade
Determined by Using
Grading Scale

Fuel Efficiency Grade
Determined by Using
Modified Grading
IN ACCORDANCE
WITH THE
PROPOSED
EPA


RECOMMENDED PRACTICE
Test
Facility
>) F
G
H
F-G-H
rat F
G
H
mt F
G
H
F
G
H,
F
G
H
F
G
H

A78-13
Bias
llf.O
1U.O
1^.5
720
.019^
.019^
.0201
.0190
.0190
.0197
.0197
.0197
,020k
D .
D
D
E
E
F
Tire
A78-13
Bi-Belt
Ih.l
12.9
12.9
720
.0196
.0179
.0179
.0192
.0175
.0175
.0199
.0182
.0182
D
D
D
E
E
E
Size and
BR78-13
Radial
12.0
10.9
10.9
780
.015^
.0139
.0139
.0151
.0136
.0136
.0158
.01^3
.01^3
C
C-
C
C
C
C
Type
L78-15
Bi-Belt
23.3
23. ^
2U.8
13^0
.017*1
.017^
.0185
.0170
.0170
.0181
.0177
.0177
.0188
D
D
D
D
D
E

LR78-15
Radial
18.1
17.2
17.8
13^0
.0135
.0128
.0133
.0132
.0125
.0130
.0139
.0132
-0137
B
B
B
B
B
B

-------
                    60-
TABLE 2 - EXPANDED SCALE FOR GRADING OF TIRES
              FOR FUEL EFFICIENCY
    Tire Rolling Resistance       Tire Fuel Efficiency
    	Coefficient                     Grade	.
            RRC <[.010        .           AA

    .010 <£ RRC <^ .012                   A

    .012 <^ RRC < .Oil*                   B

    .Oil* 
-------
                                      -61-
                                                FE-2053
                                               Environmental Activities Staff
                                               General Motors Corporation
                                               General Motors Technical Center
                                               Warren. Michigan 48090


                                                May 15, 1980
 Mr. Charles L. Gray Jr.,  Director
 Emission Control Technology Division
 Environmental Protection Agency
 2565 Plymouth Road             •
 Ann Arbor, Michigan 48105
                                     x

 Dear Mr. Gray:

 This letter with attachment is in response to your proposed recommended
 practices  for measuring tire  rolling  resistance coefficients and for
 the grading and labeling of tires for fuel efficiency. However, General
 Motors  objects  to  EPA's  assumption that it has the authority to grade
 and  label  tires for fuel efficiency.   Nowhere  in the Energy Policy and
 Conservation  Act has Congress delegated to EPA,  authority to grade and
 label  tires.  GM wishes  to point out  that Congress is now considering
 legislation   which  would  authorize   the  Secretary  of  Energy  to
.categorize tires  according  to their  contribution- to  automotive fuel
 economy.   Under the proposed legislation, it is the  Secretary of Energy
 who, in consultation with the Administrator of EPA and the Society of
 Automotive  Engineers,   is   to   "...develop   test   procedures -for
 determining  the relative  fuel  economy attributable to  the  use of a
 specific  tire  compared  to  the  use   of  another  tire  in  the same
 category." See §  602(c)  of  S. 2015. What EPA  purports to do  by  way of
 issuing a so-called "recommended  practice"  Congress  is considering
 doing  by way of legislation.  General  Motors  submits  that EPA  cannot
 exercise power  it  does  not  have.   Moreover,  the national highway
 traffic safety  administration has already promulgated requirements for
 new pneumatic tires. See 49 CFR § 571.109.

 General Motors  will  continue  to utilize the more detailed aspects of
 the  SAE procedure which provide testing  over  a  range  of  loads and
 pressures  and,  therefore,  provide us with the  capability  of evaluating
 the  rolling resistance  at any number of specific conditions that would
 relate  to actual  vehicles.  The only  difference  in this  regard is
 related to the  use of a  regulated estimated "hot" pressure rather than
 the  capped air  concept.   General Motors plans  to further  evaluate both
 methods.

-------
                                    -62-

Currently, there are  rolling  resistance  requirements for GM original
equipment tires on all new vehicle development programs and state-of-
the-art low rolling resistance technology tires are now being used on
over 50% of all GM passenger cars.  They  will  be available on over 95%
of all GM passenger cars by 1982.  We believe it is important, however,
that the fuel economy concerns of any  governmental agency not be over
emphasized  to  the  extent  of  possible  diminution  of  other  tire
performance characteristics such as handling,  traction and wear, which
are not necessarily indpendent of rolling  resistance.

GM's comments on the  technical merit  of  the EPA draft procedures are
attached.

                                    Sincerely,
                                          pisher,  Director
                                    Automotive  Emission  Control
                                    Environmental  Activities  Staff
8RGF/430/E

-------
                                     -63-
              GM COMMENTS ON EPA RECOMMENDED PRACTICES FOR
           MEASURING TIRE ROLLING RESISTANCE COEFFICIENTS AND
               GRADING/LABELING TIRES FOR FUEL EFFICIENCY

Procedural Comments on Measuring Tire Rolling Resistance Coefficients

o    Inflation Pressure

     The multiple  test pressures used  for tires having  different  load
     ranges will likely cause  the  higher load range  tires  to  obtain an
     artifically better grade.  This approach could lead some consumers to
     purchase the higher load  range  tires for their application without
     utilizing  the  higher  inflation  pressure.   For  example,  if  a
     particular tire design is manufactured in LR-B, LR-C, and LR-D sizes,
     the higher fuel economy grade would be assigned  to the LR-D tire even
     though we would expect it to exhibit poorer rolling resistance  at a
     constant inflation .pressure.  Therefore,  we  would recommend that all
     passenger car  tires of mulitiple load ranges  be evaluated at a common
     inflation pressure.

     Since  the  "T"  type  high  pressure  spares  are  intended  only  for
     temporary usage,  they should be deleted from  this procedure.

o    Tire Break-in

     GM agrees that the one-hour break-in is most important for the  non-
     radial tires  where  tire growth  could occur.  The break-in growth
     effect  on belted radial  tires,  however,  will  be  far  less  and
     therefore the  break-in is unnecessary.  Omitting the  break-in would
     have  the  tendancy to  directionally lower  the  fuel economy  grade
     (higher  rolling  resistance),  but  this  is considered   to  be  an
     insignificant  change.   By omitting this  step for radial  tires,  the
     total  elapsed  time  to   conduct   a  test  would  be  reduced  by
     approximately  75%.

o    Inflation Pressure Accuracy

     The stated accuracy of the pressure gauge (0.05 psi) is much greater
     than what is known to  be  commercially available for manually applied
     gages.  Pressure  losses  greater than  this  could occur  during  the
     process  of  taking the  pressure  reading, which must  be a  manual
     operation.   The   estimated  effect  of  a 0.5  psi  (ten   times  the
     recommended accuracy)  error in  initial inflation pressure would be
     to affect rolling resistance by only 0.10 to 0.15 Ibs. , depending on
     the tire construction  type.  A gauge with 0.25 psi accuracy should be
     sufficient  for this  generalized characterization  of  tire  rolling
     resistance performance.

-------
                                     -64-
     Parasitic Loss Measurements

     The angular velocity measurements  on the tire present an additional
     piece of  instrumentation not needed in the normal SAE practice. Since
     tire angular velocity is  load  sensitive, and the principal intention
     of  this   measurement  is   to   establish  accurate  parasitic  loss
     measurements, then   an  alternate  approach  is recommended.   This
     recommended approach would be  to measure the  rolling resistance and
     load at both the  desired  load condition (80%  TRA)  as  well as at a
     light  load  condition  (approximately 20-30  Ibs.).   The  change  in
     rolling resistance can be  observed  as  well as the  change in load,
     which permits the calculation  of the rolling  resistance coefficient
     as follows:
                             _
                             ~
                           c ~  A Load

     This approach eliminates the need for angular velocity measurements,
     and also cancels the effects of any long-term instrumentation drift
     that may occur.

TIRE GRADING AND LABELING COMMENTS

o    Tire Handling and Traction

     The EPA should  be  advised  that tire handling and  traction  are not
     necessarily  independent   of  rolling  resistance.   While   there
     currently  appears  to be  a significant technology gap in  rolling
     resistance between the OEM tires and some aftermarket tires,  the EPA
     should not over emphasize tire  rolling resistance without considera-
     tion  of   its   impact  upon   other  important  tire   performance
     characteristics. The OEM tires produced under the TPC system  attempt
     to maintain a balance between these  characteristics.

o    Grade Labeling

     The EPA proposed tire label appears  to be a promotional advertisement
     for the EPA  and is far larger than other  information  on the tire,
     while maintaintaining other  desireable tire  properties, and larger
     than  we believe  necessary.   A  simplified version  such as  "fuel
     economy grade  B"  in  dimensions consistant  with  the tire  quality
     grading label should be adequate.

o    Effect of  Size and Load on Fuel  Efficiency Grade

     We believe  the  principal  intent of the  tire fuel  economy  grading
     system is  to encourage  the development of lower rolling resistance
     tires and to accurately inform the  aftermarket buyer of the relative
     fuel  efficiency levels  of different tire  lines.  The test  data in
     Figure  1. (attached) indicates  that there  is  a  size relationship to
     rolling resistance coefficients such that  smaller tire sizes have a
     higher rolling resistance coefficient  than larger sizes, even though

-------
                             ' -65-
they represent the  same  level of tire technology.  Our  analysis of
this  range  of  tires  indicates that  a  full  size  line of  equal
technology tires would have as many as three different fuel economy
ratings (i.e., A, B, and  C).  .We feel this would lead to considerable
confusion  in the  customer's mind,  especially  since  some of  the
smaller size tires may not be capable of reaching a grade "A" level
with  todays  best  known  technology.   We  would propose  that  an
alternate criteria be considered.  This criteria  would encompass the
inherent slope of the curve shown in Figure 1. The proposal would be
to calculate an index that would be dependent on  both the rated load
and the upper limit on RR  as described  in the EPA proposed method.

Since the  average  trend  (Figure 1) can  be  described  by a best fit
linear relationship in the form

     RR  = 1  - KT L
       c    o    L
     where:  1  = intercept (index)

             KT = Slope of curve = 736X10~9
              Li
             L  = 80% TRA Load at design pressure - "(Newton)

            ]

     then:
RR  = Rolling Resistance Coefficient  - (N/N)
            1   = RR  + (736X10~9)L
             o      c                                        >.


We would expect.this trend to be valid over the range of tires shown
in Figure 1.  If one assumes that the 90% confidence/90% population
limits have the  same trend, then this equation would be:

             1  = RR , ,,.  + KT L
              o     c(ul)     L
     where: RR  , .. -. = Upper limit for 90% confidence on

                      90% of the population


            KT,  L   = Previously defined
             L
                          f
Now, a fuel economy grading system can be developed around this index
(1 ) concept.  A suggestion would be:

             1  < 0.015.	Grade A
     0.015 < 1° < 0.017	Grade B
     0.017 < 1° < 0.019	Grade C
             1° > 0.019	Grade D
              o

-------
                                     T66-.
     We would expect this fuel economy grading method to be valid over the
     13, 14,  and  15  inch  passenger car tire sizes  which  represent the
     majority of tires used today. •

8RGF/430/E1

-------
                  nuuru. j.
ROLLING RESISTANCE COEFFICIENT VS  807, TRA LOAD






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                                                            RCM  4/24/80 .

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                                      -68-
Helen O. Petrauskas
Assistant Director
Automotive Emissions and
Fuel Economy Office
Environmental and Safety
Engineering Staff
Ford Motor Company
The American Road
Dearborn. Michigan 48121
June 18, 1980
Mr. Charles L. Gray,  Jr.
Director
Emission Control  Technology Division
U.S. Environmental  Protection Agency
2565 Plymouth  Road
Ann Arbor, MI   48105

Dear Mr. Gray:

     Enclosed  are comments prepared -i by Ford Motor  Company with
respect to. a document entitled "EPA Recommended  Practice for
Grading and Labeling  of Tires for Fuel Efficiency".   We
believe grading and labeling of tires with respect to fuel
efficiency would  be worthwhile only if such information could
be imparted to consumers in an accurate, meaningful,  and
effective manner.   Our principal concerns in  this  regard are
(i) the accuracy  and  technical validity of equating  tire fuel
efficiency and rolling resistance, (ii) the difficulty of
stating tire efficiency in some objective manner which would be
understandable to the consumer, and (iii) the effectiveness
with which tire fuel  efficiency ratings can be communicated
in light of the existing requirements to make known  ratings
related to other  tire characteristics.

     These concerns have led us to conclude that,  at present,
fuel efficiency grading and labeling of tires should not be
implemented.                                               •-
                                  Sincerely,
                                  H. 0. Petrauskas
Attachment

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                            -69-

                 COMMENTS OF FORD MOTOR COMPANY
                         WITH RESPECT TO
            EPA RECOMMENDED PRACTICE FOR GRADING AND
              LABELING OF TIRES FOR FUEL EFFICIENCY
I.  Purposes of Grading and Labeling Requirement

     If labeling of tires  is intended to  assure that  low rolling
     resistance tires are  used as  original  equipment  parts, labeling
     is not necessary.   There exists a high notivation  for vehicle
     manufacturers to provide optimum tire  designs to maximize
     fuel economy—to meet consumer demand  and federally mandated
     fuel economy standards.

     If labeling is intended to aid the consumer  in malting an
     informed choice in the purchase of replacement tires, several
     questions regarding the relative merit of this additional
     information must be considered.

•II.  Effectiveness

     Tire manufacturers are already required by the Uniform Tire
     Quality Grading Standard (Up  C?R 575.10U) to provide ratings
     of treadware, traction and temperature resistance  in symbols.
     In our opinion, without explanation  these ratings  offer limited
     guidance to the consumer.   If, as indicated  above,  EPA also
  -••  .intends this labeling-of'the  tire fuel economy to  be an aid
     to consumers, the adoption of the proposed EPA "Fuel Economy
     Grade" label on the sidewall  of tires  would  appear  to compound
     the existing complexity in the purchase of after-market tires
     by adding another indicator (of unknown value) of  tire per-
     formance characteristics.

     If the agency believes that fuel economy labeling would be
     beneficial to the consumer, it should  ensure that  such labeling
     is (a) understandable, meaningful and  useful and makes clear
     to the user, the differences in projected fuel econoiry at
     each grade rating; and (b)  that any  tradeoffs introduced
     into the existing Uniform Tire Quality Grading indicators
     by this fourth variable are adequately investigated and
     understood.   Each of  the present UTQG  grades are footnoted
     by explanations of the particular grade marking.   It is be-
     lieved that the fuel  economy  rating  on the tire  would also
     require extensive explanation, which would dilute  its value
     to the consumer.

     Further, it is believed that  before  any relevance to fuel
     economy'can be claimed as  a consumer aid, research  into the
     usefulness of the proposed information should be completed
     to attempt to determine:

     0  Does the buyer understand  the information offered? -
        Can he relate each grade level to some generally
        understood measure (miles  per gallon)?  Would they
        use it in making a purchasing decision?

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                               -70-
     0  Are grade levels established such  that  clear break-
        points in performance are  differentiated?   Is a high
        "B" measurably different than a low  "A" in MPG?

     0  How would the information  be distributed,  and at
        what cost (a) to the manufacturers and  (b) ultimately
        to all tire buyers?

     0  Is there any substantial indication  that additional
        information will be  any more widely  used than past
        automotive consumer  information?

   .  Unless a reasonable level of  usefulness can be established
     by market research, it  is believed that the need for  molded
     tire labeling is not justified.

III.   Rolling Resistance as  Sole Determinant of Tire "Fuel Efficiency"

     The use of rolling resistance coefficient  (PP.C) of a free
     rolling tire as criterion for grading of tires for "fuel
     efficiency" may be an over-simplification  of  a complex re-
     lationship, and therefore may not be  technically adequate.*

     Tires have a significant .effect on the  fuel consumption
     of a vehicle because of the energy dissipation in the tire.
     Energy dissipation in- the tire results  .from deformation of
     the tire produced by forces transmitted through the tire.
     Load carried by the tire produces vertical deformation.
   *  Energy dissipation due  to this deformation constitutes
     rolling resistance.

     Driving forces propelling the vehicle produce circumferential
     deformation.  Circumferential deformation  produced by
     driving forces not only causes a direct energy dissipation
     due to this deformation, but  also tends to modify pressure
     distribution along the  length of tire contact which results
     in shifting the point of application  of the resultant vertical
     force forward.  This shift tends to further increase tire
     rolling resistance.  Therefore, energy  dissipation in the
     driven tire is considerably greater than that in the free
     rolling tire.

     Furthermore, tires generate lateral forces which are necessary
     for directional control of a  vehicle  and  for  maintaining
     * Ford's views in regard to determination of tire rolling
       resistance coefficients are reflected in the comments filed
       by the Motor Vehicle Manufacturers  Association with respect
       to "EPA Recommended Practice for  Determination of Tire
          »
       Rolling Resistance Coefficients".

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                               -71-
     direction stability.   These  forces  result  from lateral defor-
     mation of the rotating tire  operating  at a slip angle.   Addi-
     tional dissipation  of  energy in  a tire occurs  during this
     process.   Since  a vehicle  continuously tends to change its
     direction of motion, even  in so-called "straight ahead"
     driving,  energy  dissipation  due  to  lateral deformation con-
     tinuously takes  place.   Vehicle  fuel consumption is  influenced
     "by the total energy dissipation  resulting  from vertical»
     circumferential, and lateral deformation of the tire..

     The magnitude of these deforrnaticr.s and consequently the
     magnitude of energy dissipation  are affected by vehicle
     operating conditions,  environmental conditions, and  tire
     construction.  Tire vertical,  circumferential, and lateral
     stiffnesses  may  be  considered a  major  tire design factor
     affecting tire deformations  and  energy dissipation.   Tire
     grading for  fuel consumption based  exclusively on rolling
     resistance (vertical deformation) can  be justified only if
     one vould assume that  tires  shovir.g low or high energy
     dissipation  in a free-rolling mode  also display correspond-
     ingly lov or high dissipation in other tire modes and partic-
     ularly in driving modes.   Since  there  is no evidence supporting
     such an assumption, grading  of tires for fuel  consumption
     based on rolling resistance  may  not be applicable to tires
     used on driven automobiles.

IV.  Authority to Require 'Grading and Labeling  of Tires

     Ford believes that  EPA lacks the authority to  promulgate any
     regulations  concerning tire  labeling.  SPA has the authority,
     pursuant  to  the  Energy Policy and Conservation Act,  P.L. 9^-lo3i
     to measure vehicle  fuel  economy,.to calculate  corporate average
     fuel economy, and to require fuel economy  labeling of vehicles;
     but authority is not granted to  rate or label  the component
     parts of the vehicle with  regard to fuel economy effects.
     This conclusion  is  supported by  the fact that  Amendment 1663
     to S. 2015,  proposes to  require  testing and labeling of tires
     for fuel economy effects.  Congress then seems to have con-
     cluded as veil that EPA  presently lacks the authority to perform
     these functions.

V.  Miscellaneous

     If labeling  of tires vere  adopted, we  recommend that:

     0  It should not be applicable to "T"  type tires (temporary
        tires).

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                        -72-
                                            •
For the sake .of completeness the RRC scale "be expanded—

             lower than R?.C = 0.012
             ...say RRC = 0.010

             greater than ?5C = 0.015
             ...say RRC = 0.020

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