iiPA-AA-SRPB-92-01
                         Technical Report
             Inherently Low-Emission Vehicle Program,
                   Estimated Emission Benefits
            and Impact on High-Occupancy Vehicle Lanes
                                by

                        Lester Wyborny II


                           October 1992
                              Notice

Technical reports do not necessarily represent  final EPA decisions
or positions.  They are intended to present technical analyses of
issues using data which are  currently available.  The purpose in
the  release  of  such reports  is  to  facilitate the  exchange of
technical developments  which may  form the basis for  a final EPA
decision, position or regulatory action.
               U.S.  Environmental Protection Agency
                     Office of Mobile Sources
           Regulation Development and Support Division
                       Ann Arbor,  Michigan

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                        Table of Contents

I.   Executive Summary

II.  Introduction

III. Background

     a.   Policy Basis for ILEV Program

     b.   Program Provisions and Requirements

IV.  ILEV Emission Reductions

     a.   Background

     b.   Base Case Vehicle Vapor Emissions
          1.   Emission Control Programs
          2.   Calculation Methodology
          3.   Modeling Results

     c.   ILEV Vapor Emissions
          1.   ILEV vehicles/Fuels
               A.   Gaseous-Fuel ILEVs
               B.   Alcohol-Fuel ILEVs
               C.   Electric ILEVs
               D.   Clean Conventional Fuel Technologies

          2.   Composite Vapor Emissions

     d.   ILEV Emission Benefit
          1.   Individual Vehicle Benefit
          2.   Aggregate Benefit

     e.   Conclusion

V.   Affects of ILEV use of HOV lanes

     a.   Background
          1.   What are HOV Lanes?
          2.   HOV Lane Benefits
          3.   HOV Lane Utilization

     b.   Method of Analysis

     c.   Case-by-Case Analysis
          1.   Houston, Texas
          2.   District of Columbia
          3.   Seattle, Washington
          4.   Los Angeles, California

     d.   Conclusion

VI.  Additional TCM Exemptions for ILEVs

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I.   Executive Summary

     The Clean Air Act Amendments of 1990  (the Act) require states
to implement Clean Fuel Fleet Programs in  certain ozone and carbon
monoxide  nonattainment areas  starting in  1998.   One  of EPA's
responsibilities under the Act is to exempt the vehicles qualifying
for the program from certain transportation control measures (TCMs)
which will provide the fleets an incentive  for their participation.
EPA has proposed regulations to meet this  statutory mandate.  As a
part of EPA's proposal, an important new concept  in motor vehicle
emission  control  was introduced.   With this concept,  EPA would
grant expanded TCM exemptions to inherently low-emission vehicles
(ILEVs).  The  first of these exemptions is  access to high-occupancy
vehicle (HOV or carpool) lanes.

     ILEVs  are clean fuel vehicles  (LEVs, ULEVs,  and ZEVs)  with
"inherently" low evaporative emissions, such that  the evaporative
emissions would remain  low  even if the emission control hardware
were to malfunction.   ILEVs  must operate solely  on inherently low-
emitting fuels, which in many cases are expected to be alternative
fuels;  this is in contrast with  the other clean fuel  vehicles
qualifying for the fleet program which are  generally expected to be
low-emission vehicles  (LEVs)  operated  on reformulated gasoline.
Thus,  in  proposing  the  ILEV concept,   EPA   anticipated  that
significant air  quality benefits  would  result from the  use of
ILEVs.

     Comments on EPA's proposed ILEV program  questioned the extent
of environmental benefits that would result from the ILEV program.
Other comments also expressed concern that ILEVs could reduce the
effectiveness of HOV  lanes by contributing to traffic congestion.
This report explores these two  concerns in detail.

     According to the detailed analysis in this report, ILEVs would
provide substantial emission reductions compared to LEVs and other

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conventional vehicles.   The evaporative  and refueling emissions
(vapor emissions) from ILEVs are estimated to be near zero.  With
the near-elimination of vapor emissions, ILEVs are expected to emit
about one-half  the  volatile organic compound  emissions  as other
LEVs.   ILEVs are also expected to emit  lower exhaust emissions
based on their performance compared to today's  vehicles.  However,
these expected additional reductions from the use of ILEVs were not
included  in  this analysis  because these lower  exhaust  emission
levels are not an absolute requirement of the program.

     This report also concludes that ILEVs are expected to result
in little or no  detrimental effect on  traffic flow in HOV lanes.
This conclusion  was derived from  studying  the HOV  lanes  in Los
Angeles, Houston, the District of Columbia, and Seattle.  In almost
all cases, even widespread use of ILEVs would have marginal impact
on HOV lane  flow.   For Los Angeles, however, where the HOV lanes
are already heavily used, the most  widespread ILEV usage currently
anticipated could impact HOV lane  flow, but only in the out years
well after the year  2000.  Even here, the  report identifies  several
ways in which Los Angeles, and any  other  areas  with heavy HOV lane
use, could modify their HOV operations to accommodate ILEVs.

     Finally,  this  report  identifies  two important  reasons for
granting  expanded TCM exemptions  to ILEVs.   First,  the positive
environmental  impact  of any  increase  in   ILEV  usage could  be
substantial  while  as demonstrated  by  this  analysis  of  HOV lane
traffic  flow,  the  impact  on  the  effectiveness  of HOV  lanes  is
expected  to be  insignificant.     Thus,  expanded  TCM exemptions
offered  to  ILEVs would  appear  to  be  beneficial.   Second,  some
fleets cannot take advantage of  the HOV exemption incentive either
because they do not operate during  rush hour, or because HOV lanes
may not be available where they do  business.   Granting additional
incentives beyond HOV lane exemptions could encourage  the purchase
of  ILEVs.   Such additional  incentives  could also  help fleets
overcome  obstacles  to the purchase of alternative-fueled ILEVs,

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such as the initial capital cost for fueling points.

     Overall,  this report  concludes that  widespread  and rapid
introduction of ILEVs would generally offer significant air quality
benefits to society wherever  they  are used,  and that the prudent
use  of  TCM  exemptions  and   incentives  could  encourage  these
purchases without  significant  impact on the effectiveness of the
other programs.

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List of Abbreviations

CFFV           Clean Fuel Fleet Vehicle
CNG            Compressed Natural Gas
CO             Carbon Monoxide  (pollutant)
EPA            Environmental Protection Agency
E100           Neat Ethanol Fuel
GVWR           Gross Vehicle Weight Rating
HDGV           Heavy Duty Gasoline Vehicle
HOV            High Occupancy Vehicle
ILEV           Inherently Low-Emission Vehicle
LEV            Low-Emission Vehicle
LDV            Light-Duty Vehicle
LDT1           Light-Duty Truck
LDT2           Light-Duty Truck  (6000 - 8500 Ibs. GVWR
LNG            Liquid Natural Gas
LPG            Liquid Petroleum Gas
Ml00           Neat Methanol Fuel
NMHC           Nonmethane Hydrocarbon
NOx            Oxide of Nitrogen  (pollutant)
SIP            State Implementation Plan
TCM            Transportation Control Measure
ULEV           Ultra Low-Emission Vehicle
ZEV            Zero Emission Vehicle

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II.  Introduction

     The Clean Air Act  (the Act) requires states comprising certain
areas  exceeding  the National  Ambient Air  Quality  Standards for
ozone  and  carbon monoxide to  implement  clean  fuel  vehicle  fleet
programs.   These fleet  programs  are to  begin in  1998  and will
require  fleets  to purchase  clean  fuel  vehicles  which emit less
exhaust emissions than  conventional  vehicles.   To further define
the  fleet  program  for the   states,  the  Act  requires  EPA  to
promulgate specific regulations. Among  the  regulations which must
be promulgated,  is  the exemption of clean fuel  fleet  vehicles
(CFFVs) from  transportation  control  measures  (TCMs),   encouraging
purchase of these vehicles.

     EPA proposed  a two-tiered approach to  TCM exemptions.   All
CFFVs would be exempt from temporal  (time-related) TCMs instituted
in whole or in part for air quality reasons,  while a cleaner  group
of CFFVs,  termed ILEVs,  would receive expanded TCM exemptions. EPA
proposed  to  exempt  ILEVs  owned by eligible  fleets from  high
occupancy vehicle (HOV)  lane  restrictions and to pursue additional
select exemptions by regulation in the future.

     In terms of an overview,  Section  III  discusses the policy
basis  for  the ILEV program and  describes   the requirements and
provisions of the program.  The report then  analyzes the projected
vapor  emissions   of ILEVs  and presents  a  comparison of   those
emissions  with base case  vehicles  expected to  be purchased as
CFFVs.  Section V of the report then presents a study of the impact
of the ILEV HOV lane restriction exemption.   And  finally,. Section
VI concludes  with a discussion of  several  additional incentives
which could further encourage the use of ILEVs.

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III.  Background

a.   Policy Basis for ILEV Program

     The Clean Air Act  directed  EPA to develop regulations which
provide  CFFVs  exemptions  from  "time  of day,  day  of  week,  and
similar  transportation  control  measures."   The language  of the
statute was problematic because it did not explicitly state which
of the TCMs should be included in the exemptions.  In discussions
with EPA, fleet owners  indicated a  strong preference for a broad
interpretation  of  the  provisions  because  they  viewed  these
exemptions  as  a  direct  recompense  and  incentive  for  their
participation in the fleet program.   Some fleet  owners listed TCMs
for which they wanted to receive exemptions, while others requested
specific exemptions from  only certain  TCMs.   The TCMs exemptions
they requested ranged from temporal TCMs  (i.e., time  of day, day of
week), to  such nontemporal TCMs  such  as traffic flow  measures,
urban  vehicle  management,  road  pricing  and  trip  reduction
ordinances.

     EPA and several of the states  suggested that a more limited
interpretation was appropriate since most CFFVs will have exhaust
emission levels similar to vehicles being developed for public sale
as part  of the California Low Emission Vehicle program.  Concern
was  expressed  that broad exemptions may  tend to  undermine the
environmental effectiveness of current and future TCMs and may lead
to  an  adverse  public   reaction from  those  who  purchase  the
California vehicles in California, and potentially in other states
as well, but would not get such exemptions.

     As a balance between these two views EPA developed  (and will
soon  finalize)  a  two-tiered approach  to  implementing the  TCM
exemption provisions.   The first tier  provides CFFVs exemptions
from  temporal-based TCMs instituted  wholly or  partly for  air
quality  reasons.   This  provides CFFVs  with the TCM exemptions

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explicitly stated in the Act without allowing exemptions for non-
air quality related TCMs or those not temporally based.

     The second tier balances  fleet  owners desires for broader TCM
exemptions against concerns about undermining the effectiveness of
TCMs,  the  lack  of  environmental benefits,  and public reaction
concerns relative to California low-emission vehicles.  This tier
establishes a Federal program  known  as the inherently low emission
vehicle  (ILEV)  program.   As proposed, the  ILEV program provides
both temporal and expanded TCM exemptions to CFFVs with near zero
evaporative  emissions   and  decreased  NOx  emissions.     This
requirement for inherently low evaporative emissions is the heart
of  the program since  in-use vapor  emissions   (evaporative  and
refueling)  approach and often  surpass exhaust hydrocarbon emission
rates and yet are not controlled more stringently than conventional
vehicles by the clean fuel vehicle emission requirements.

     For the second  tier of TCM exemptions, EPA proposed that ILEVs
receive HOV lane exemptions.  With this exemption, ILEVs would have
access to use freeway lanes now limited to high occupancy vehicles.
In the  past,  fleet  vehicles have effectively been  excluded from
using HOV lanes  due to their operating characteristics.  To provide
more incentive for the purchase of these vehicles,  EPA intends to
study and promulgate additional select  TCM exemptions for ILEVs in
future rulemakings.

     The ILEV program is potentially  a positive for all parties.
The vehicle will generate substantial emission reductions,  states
will  be   able   to  claim  these   reductions  in   their   state
implementation  plans  (SIPs),   and  fleet owners can  qualify  for
expanded TCM exemptions.  Even looking beyond the benefits of this
program, low emission technology will be  developed and employed on
in-use vehicles and the public will receive important exposure to
these extra clean vehicles in preparation for possible expansion of
the program by the state.
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 b.  Program Provisions and Requirements

     One key goal of the clean fuel fleet program is a reduction in
ozone  precursor emissions  and air  toxics.    The fleet  program
effectively addresses reductions in ozone precursors NMOG and NOx
emissions, but  contains no  additional  provisions regarding vapor
emissions from CFFVs.   The ILEV program continues this emphasis on
reducing ozone precursor emissions.

     In order to qualify as  ILEVs,  vehicles would have to meet the
following requirements:

1)    In addition to qualifying as CFFVs,  ILEVs must pass additional
     evaporative emission control requirements.

     ILEVs have inherently  low vapor  emissions because  even if
     their  evaporative emission  controls  were  to  fail,  these
     vehicles would still emit very low amounts  of vapor emissions.
     In order for vehicles to be certified as  ILEVs, they must pass
     a stringent  evaporative emissions  test  with any evaporative
     emission control hardware  disconnected.  The ILEV evaporative
     emissions requirement was proposed at a level which would be
     more than an order of magnitude less than the emissions from
     an uncontrolled  gasoline  vehicle.   Of  course,  the existing
     evaporative  standard  would  also  have  to  be  met,   using  a
     control system if necessary.

     In th« case of electric and gaseous-fuel vehicles, the nature
     of  their  fuels  and   fuel   storage  reduces  concern  about
     evaporative emissions from these vehicles.   Dedicated electric
     vehicles are not  considered to make any direct contribution to
     urban emissions.  Gaseous fuels  (CNG and  LPG)  are stored in
     enclosed fuel systems under pressure and are characterized as
     having zero  evaporative emissions.   If  the pressurized fuel
     system were  to be breached,  the vehicle  would  generally be

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     rendered inoperative through the quick loss of fuel/ the owner
     would then need to repair the vehicle before any future use.
     EPA proposed that for these  vehicles  to qualify as ILEVs, the
     manufacture  would  need  to  show  through  an  engineering
     evaluation,  that the  vehicles would  meet  the  evaporative
     emission requirement.
2)    ILEVs must meet the exhaust emission requirements of CFFVs.

     Light-duty  ILEVs  must meet  the  LEV exhaust  standards  for
     carbon   monoxide   and   nonmethane   organic   gas    (NMOG).
     Maintaining the  focus on  further reducing  ozone precursor
     emissions from that of conventional vehicles,  light-duty ILEVs
     must meet  the ULEV  NOx standards  for that  vehicle class.
     Heavy-duty ILEVs must meet the combined nonmethane hydrocarbon
     (NMHC)  + NOx ultra low-emission standard for clean  fuel heavy-
     duty vehicles.
3)    ILEVs must be dedicated fuel vehicles.

     ILEVs can only operate on the fuel(s) on which the vehicle was
     certified to meet the ILEV evaporative and exhaust emission
     standards.   Any  fuel  is  eligible provided that  the  ILEV
     requirements are met.
4)    ILEVs must fall within the covered vehicle weight classes and
     be operated by covered fleets.

     Vehicles  which may qualify  as ILEVs  must fall  within the
     weight classes covered by the fleet program, which are light-
     duty vehicles, light-duty trucks,  and heavy-duty trucks up to
     26,000 Iba. GVWR.   Furthermore,  ILEVs may only be operated by
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     fleets covered by the fleet program.  The states, however, may
     expand the  ILEV program to  vehicle classes  and  fleets not
     initially covered by the fleet program.
IV.  ILEV Emission Reductions

a.    Background

     Motor vehicle emissions are composed of hydrocarbons, oxides
of  nitrogen   (NOx),   carbon   monoxide,   and  other  pollutants.
Hydrocarbons and NOx react together at ground level in the presence
of sunlight to form  ozone.   The chemical nature or reactivity of
the hydrocarbon  emissions from the  vehicle determines  to a large
degree the extent that ozone will be formed from those emissions.
The reactivity of the fuels in use,  or those being considered for
use,  varies  over two  orders  of magnitude,  from  electricity and
methane at the low end of the range,  to gasoline at the high end of
the range.

     For each class of clean fuel vehicles  certified for the fleet
program, the  hydrocarbon  exhaust emissions must  be  adjusted for
reactivity.  This reactivity adjustment requirement is described in
the Act under the definition of nonmethane  organic gas  (NMOG).  As
required under that  definition, the mass  of hydrocarbon exhaust
emissions  of vehicles using  fuels  other  than gasoline  must be
measured and  speciated, and the mass  of each specie adjusted for
reactivity.    The  aggregate  reactivity-adjusted mass   is  then
compared against the applicable NMOG standard.

     The ozone-forming emissions from motor vehicles generally fall
into  three different  categories:    evaporative,   refueling,  and
exhaust.  Evaporative emissions, which are  hydrocarbon fuel vapors
emitted  from the  fuel storage and  distribution system  on the
vehicle,  can be  further  subdivided  into  a number  of different
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sources  generally called  diurnal,  hot  soak,  running  loss,  and
resting loss emissions.  Each of these sources is described below
in more detail:

•    Diurnal emissions  result  from fuel vapors  generated in the
     fuel  tank  from  daily  ambient  temperature  and  pressure
     increases while the vehicle is parked.

•    Hot  soak  emissions  result  from fuel  vapors generated by
     residual vehicle heat following vehicle operation.

•    Running loss emissions  result  from  fuel vapors generated by
     the heating of the fuel in the fuel system while the vehicle
     is in operation.

•    Resting loss emissions  result  from  fuel vapors continuously
     emitted from the vehicle as the result of permeation through
     rubber and plastic components of the fuel system or migration
     from charcoal evaporative control canisters.

     Similar to evaporative emissions, refueling emissions are  fuel
vapors released directly into the ambient air from the fuel storage
system.   The difference is that these emissions occur while the
vehicle is being  refueled.  In the case of a liquid-fueled vehicle,
the liquid entering the fuel  tank  displaces the air  and fuel vapor
in the partially empty fuel  tank, forcing them  out of the tank.
The more volatile the  fuel,  the greater  the refueling emissions.
Refueling and evaporative emissions, when both are being considered
together, will be referred to as vapor emissions  for the remainder
of this document.

     Exhaust emissions are generated by the combustion of  fuel and
are discharged from the vehicle's tailpipe, usually after passing
through a catalytic converter.   The primary components of exhaust
emissions are  carbon dioxide, water vapor, carbon monoxide,  NOx,
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and hydrocarbons.   For  some  fuel types, particulate  matter and
formaldehyde are also important.  To place clean fuel vehicles into
production, manufacturers  must  certify that  their  vehicles emit
less NOx, carbon monoxide, hydrocarbons and other pollutants than
their respective standards. For hydrocarbon emissions from CFFVs,
the Act requires the emissions be measured as NMOG.

     Evaporative and exhaust emissions  from motor vehicles usually
increase  (deteriorate)  as the vehicles age.   This  deterioration
occurs for a number of reasons.   These include the effects of the
aging of the vehicle's engine and the emission  control hardware, as
well as malmaintenance,  defects,  and deliberate tampering.   This
deterioration is responsible for a significant portion of the ozone
forming emissions emitted  from motor vehicles.

     The estimation of the deterioration is a key component of an
analysis to project emissions  in the future.  Because  of  the nature
of the evaporative control systems on motor vehicles and the fuel
vapors they control,  vapor emissions do not change significantly
with age  until a  physical or mechanical  failure occurs.   Most
vehicle  evaporative control system  designs  are  similar  and the
frequency  and  severity  of  these   failures  are   fairly  well
understood.  Thus, future vapor emissions can be estimated with a
fairly high degree of confidence.

     This is not true for exhaust emissions.  Exhaust emissions are
dependent  on  the  engine  configurations  and emission  control
approach used and can vary drastically with simple changes in the
operational setpoints  of the engine controls.   This  is  further
complicated by  the  fact  that  the  full  range of types of vehicles
likely  to  qualify  as  ILEVs have  not  yet been  manufactured and
tested for their exhaust emissions.  This lack of exhaust emission
data precludes EPA from projecting the exhaust  emission performance
of  ILEVs relative  to  LEVs at  this  time.    Therefore,  exhaust
emissions will not be considered in this analysis, even though it
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is likely that some reductions are possible.

b.   Base Case Vehicle Vapor Emissions

1.   Emission Control Programs

     CFFVs,  which would be the vehicles purchased by fleets in lieu
of ILEVs, form the baseline  of  comparison to estimate ILEV vapor
emission reductions.   These base case vehicles are expected to be
low-emission  vehicles  (LEVs)   running on   federal  reformulated
gasoline.

     In addition to the reformulated gasoline program, a number of
other  vehicle emission  reduction  programs are  expected  to  be
implemented which will further reduce vapor emissions compared to
that from  today's vehicles.   These emission  reduction programs
include  Phase  II  Gasoline Reid Vapor  Pressure Control,  Improved
Evaporative Emissions  Control,  Onboard Diagnostics,  and Enhanced
Inspection/Maintenance.  These programs and their initiation dates
are summarized in Table 1.
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Table I - Summary of Future Emission Control Programs
Emission Control Program
Phase II Gasoline RVP
Control
Improved Evaporative
Emissions Control
Onboard Diagnostics
Enhanced I/M
Reformulated Gasoline
required for most areas
covered by fleet program
Planned or Anticipated Program
Start Date
May 1992
Proposed Phase-in 1995 - 1998
Model Year 1994
Proposed Phase-in 1994 - 1996
Assumed to be used by all base case
fleet vehicles starting in 1998.
     Stage II refueling emission control,  which is called for in
the Act, is expected not to apply to most of the fleets covered by
the fleet program.   Stage  II refueling emission  control is a state
implemented  program requiring  most  fuel  dispensing  facilities
located  within  moderate  or worse ozone  nonattainment  areas  to
install  controls  to reduce  refueling emissions.    In  this  case,
fleets are generally centrally fueled from their  own facilities and
would only be covered if they dispense more  than  10,000 gallons per
month.  According to past EPA analysis, most fleets do not dispense
monthly volumes greater than this  level; thus,  they would not be
covered by the stage II requirements and their refueling emissions
would be uncontrolled.   For this analysis,  two approaches will be
taken concerning this  issue:   1) that no  fleet  vehicles would be
covered by Stage II, and  2)  10 percent of  fleet vehicles would be
covered by Stage II.
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2.   Calculation Methodology

     EPA assessed  the  benefits of the  emission control programs
listed above to project the vapor  emissions  of base case vehicles.
Since the benefits of each of these programs on vehicle emissions
can diminish when the parallel effects of other programs are also
considered, it was necessary to use MOBILE 5.0 to account for the
synergistic effect of all the future programs implemented together.

     The MOBILE emission modeling computer program was developed to
estimate the exhaust and vapor emissions  from all  classes and ages
of operating vehicles.   The model  incorporates a number of factors
that affect the level of emissions, including ambient temperature,
average  vehicle speed, mileage  accrual rates,  emission control
hardware failure  rates,  and vehicle tampering.   The  benefits of
mobile source emission  control programs  implemented prior to the
CAA  amendments,  and projections  of  the  benefits  of  programs
required in  the Clean  Air Act amendments,  are  incorporated into
this version of the MOBILE computer program.

     Some of these MOBILE 5.0 input parameters and data output were
modified in  the special version of the  model to  account for two
specific operating characteristics of fleet  vehicles and the fleet
program.   The  high  urban  use  of  covered  fleet  vehicles  was
accounted for by using  an urban average driving speed.  Because the
fleet program is primarily concerned  with reducing ozone precursor
emissions,  the  analysis was modeled at  90.5  °F which considered
high summertime temperatures associated with ozone exceedances.

      The MOBILE 5.0 model reports vapor emissions for each of the
separate sources discussed  above  for each vehicle class.   The
various vapor emission  sources are totaled for each class to derive
total vapor emissions for that class.  After the  emission control
programs in Table 3 are fully phased-in,  the vapor emission factor
for each vehicle class  is stable.   This  should occur in about 1998
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when the mandatory portion of the  clean  fuel fleet program begins,
so only  one  emission factor is necessary  for  each vehicle class
(see Table 12 in Appendix) .

     These  separate  vehicle  class  emission   figures  are  then
combined into a  composite  value using weighting factors.   Unlike
the emission factors, the weighting factors do  change as the fleet
program phases in and the mix of vehicle classes changes over time.
To provide sample figures  for one year, the weighting factors for
the year 2000 class  mix  of fleet  vehicles including the mileages
and number of vehicles are summarized in  Table 2.   The year 2000
was chosen because it falls in the middle of the early years of the
fleet program phase-in and would tend serve as an average for the
weighting  factors  for those years.   Weighting factors  for other
years  can  be  calculated  using  the  projected sales  figures  in
reference 1.   A weighting factor for heavy-duty diesel vehicles is
not included  in  this table because diesel is  low in volatility;
consequently, ILEV replacements of conventional diesels or diesels
qualifying as ILEVs  replacing the existing fleet are not expected
to yield any reductions in vapor emissions.
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Table 2 - -Weighting Factors and their Base Data for Year 2000 Fleet
          Vehicles
Category
Number of
Operating Fleet
Vehicles [1]
Average Annual
Mileage [1]
Weighting Factors
LDV*

302,000


17,600
0.58
LDT1*

118,000


15,700
0.21
LDT2*

24,000


15,700
0.04
HDGV*

50,000


31,700
0.17
* LDV is light-duty vehicle;  LDT1  is light-duty truck under 6000
Ibs. gross vehicle weight rating (GVWR); LDT2 is light-duty truck
between 6000 and  8500  Ibs.  GVWR;  and HDGV is heavy-duty gasoline
vehicle.

     Applying the weighting factors  for  any one year to the base
case emission  factors  yields  composite  emission  factors for the
base case vehicles in that year.  Emission  factors  for years prior
to  1998  were  not analyzed for  two reasons.   First,  base case
vehicle and ILEV purchases by  fleets prior  to 1998  are expected to
be less significant and the numbers more  difficult  to predict than
when the fleet program begins  in 1998.  And second, the  inputs for
the MOBILE computer model were difficult to  determine because the
final  provisions and  phase-in dates  for  some of  the emission
control programs  mandated by  the  Act  have not been established.
Therefore, this analysis focused only toward the end of this decade
when the vehicle emission control and fleet programs are  certain to
be implemented.
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3.   Modeling Results

     Using the analysis and weighting scheme described above, the
composite base case fleet vehicle emission factor for the year 2000
is calculated and summarized below in Table 3.  The value of 0.50
grams/mile  is  based  on  the emission  factor data  summarized  in
detail in Table 12  in the Appendix and the weighting  factors listed
in Table  2  above.   Composite  emission factors  for other select
years are summarized below in Table 5 for the purpose of projecting
the emission benefits of the ILEV program.
Table 3 - Projected Vapor Emissions from Low-Emission Vehicles in
          grams/mile/vehicle (parentheses includes effects of Stage
          II reductions)
Year
2000
LDV*
0.33
LDT1*
0.38
LDT2*
0.39
HDGV*
1.23
Weighted Total
0.50 (0.48)
* LDV is light-duty  vehicle;  LDT1  is  light-duty truck under 6000
Ibs. gross vehicle weight rating (GVWR); LDT2 is light-duty truck
between 6000 and  8500  Ibs.  GVWR; and  HDGV is heavy-duty gasoline
vehicle.

c.   ILEV Vapor Emissions

1.   ILEV Vfchicles/Fuels

     Projections  of  the  in-use  emissions  from ILEVs are based on
vehicle technology/fuel combinations that are expected to meet an
evaporative emissions requirement of 5  grams/test with any control
system  disconnected.     The   assumed  vehicle  technology/fuel
combinations are  dedicated alternative-fuel  and  diesel vehicles
                                19

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running on the proven low-emitting vehicle technology/fuels.  There
is no limit or specification on the fuel or technology which can be
used provided that the performance standard can be met.  Possible
technologies/fuels include compressed natural gas,  liquid petroleum
gas, electricity, neat alcohols such as methanol and ethanol, and
clean conventional fuel technologies.

     Reformulated  gasoline and  alcohol  blended  fuels  are  also
eligible,  however,  they  may  have greater  difficulty qualifying
because  of their relatively high  reid vapor pressure of  over 8
pounds per  square  inch  (psi).   If vehicles using these fuels are
subjected  to the  ILEV evaporative emissions test, which requires
that the evaporative emissions  control hardware be disconnected,
they could emit several  times  over the  ILEV evaporative  limit.
However, it would not be  infeasible for these fuels to qualify as
ILEVs,  if a fuel storage system  can be  designed which ensures that
evaporative emissions remain below the ILEV evaporative emissions
requirement.

     Vapor  emissions from ILEVs are not  expected to increase or
deteriorate over  time.   This is based  on the concept of vehicle
expected to meet the requirements to qualify as an ILEV.  While the
vapor emissions from conventional vehicles are certified with the
use of  vapor  emission  control  hardware when required,  and this
hardware can later fail  in-use resulting in  significant amounts of
in-use vapor emissions.  The ILEV test procedure does not allow the
use of such hardware.   Thus,  the ILEV test procedure ensures that
the in-use vapor emissions will  remain  very, very  low because only
inherently low emitting  fuels and fuel storage  configurations would
be permitted.    ILEV fuels would either be naturally low in vapor
pressure,  or  totally   enclosed  in  storage  systems that  would
preclude vapor emissions.  Further descriptions of the inherently
low emitting qualities  of the fuels expected to  qualify as ILEV
fuels are  included separate  sections  on  each  of the  ILEV fuel
categories below.
                                20

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       For this analysis, the alternative fuels expected to qualify
as ILEV fuels are categorized into four groups and evaluated  in the
context of several parameters.   The  four groups are:  1) gaseous
fuels, which includes compressed natural gas and liquid petroleum
gas;  2)  alcohol  fuels,  which  includes  neat  methanol  and neat
ethanol;   3)   electricity;  and   4)   clean   conventional   fuel
technologies.    These  groupings  were  chosen  because  of  the
similarities in the technologies and the ozone forming potential of
the fuel vapors.  Each of these groups will next be evaluated for
their vapor  emissions,  their ozone forming  potential,  and their
expected penetration of the ILEV market.
A.   Gaseous-Fuel ILEVs

     Gaseous-fuel vehicles do  not  emit  diurnal,  running loss, or
hot  soak emissions  because  the storage systems  are completely
enclosed.[2,3]   The refueling emissions are  also  expected to be
essentially zero because quick disconnect fittings  are expected to
be required hardware for future refueling  installations.   It is
unknown whether gaseous fueled vehicles emit resting losses because
they have never  been measured.   Because the fuel system is under
pressure, the  walls of the  fuel lines  are thicker than today's
vehicles  which  would tend to eliminate  the bleeding through the
fuel line walls seen  in today's  vehicles.   Thus,  resting loss
emissions are projected to be essentially zero as well.

     Gaseous  fuels  are much  less  reactive than gasoline vapor.
This is  because  the components  of  the fuels are much more inert.
Compressed natural gas is composed  primarily of methane and ethane
(a typical fuel would contain about 95 and 2  percent, respectively,
plus minor amounts of other hydrocarbons and inerts) which are much
lower in reactivity.[4,5, 6]   Liquid petroleum gas for automotive
fuel is  composed primarily of  propane and butane  (a typical fuel
will contain  about  95 percent and  5  percent, respectively, plus
                                21

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trace amounts of other constituents),  which is  also relatively low
in reactivity.[4,5,6]   Thus,  the ozone-forming potential of both
these vehicle/fuel combinations  is  substantially lower than that
for gasoline-type vehicles.

     Compared  to  the other  fuels considered,   gaseous  fuels are
projected to capture  the largest  share of the ILEV market early on.
Gaseous fuels are now available as conversions,  and OEM models are
planned.  This positions gaseous fueled ILEVs to take advantage of
the  large  benefits  such as  the much  lower  fuel price  and the
already widespread accessibility of the fuels.[7]
B.   Alcohol-Fuel ILEVs

     The alcohol  fuel  emissions used in  this  analysis are those
estimated for neat methanol (M100),[8]  and are  assumed to apply to
neat  ethanol  (E100)  as well  which  has  about  the  same  ozone-
producing potential.   Although  ethanol's vapor pressure is about
one half of methanol's (2.5 psi  versus  4.6 psi. at  100  °F)[9], its
reactivity  is  about   two  times  higher  (1.34  versus 0.56);[5]
therefore,  reactivity adjusted emissions for ethanol would be about
the same.   Since  alcohols  and gasoline are both liquid fuels and
would use similar fuel  system designs, alcohol fuels are assumed to
emit  the  same  amount  of resting  losses  as  gasoline-powered
vehicles.   The  vapor  emissions  from  alcohol  fuel-vehicles  are
summarized below in Table 4.  To relate the ozone  forming potential
of these emissions  to  those of base case vehicles, a  reactivity
adjustment factor was applied.   California's  reactivity adjustment
factor of 0.29, adjusted to that of gasoline, is used  here.[5,6]

     Neat alcohol  fuels  are estimated to comprise another large
segment of  the  ILEV market.  The  cold start drawbacks  related to
neat alcohol  fuels  have  shown some promise of being resolved.  A
direct  injected methanol  engine  has  been  developed  which  cold
                                22

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starts at temperatures previously obtainable only through glow plug
technology or with methanol blended with gasoline. This technology
is assumed in this report to be further developed for both methanol
and ethanol  to  allow the alcohols to make  inroads  into the ILEV
market.
Table 4  -  Projected Emissions from Alcohol-Fuel  Inherently Low-
Emission Vehicles  (Grams/Mile)
Emission Category
Hot Soak and
Diurnal
Running Loss
Resting Loss
Refueling Loss
Total Vapor
Emissions
Reactivity
Adjusted Vapor
Emissions (g/mi)
Alcohol Fuels
(M100 and E100)
.030
.025
.01
.017
.077
.022
c.
Electric ILEVs
     Electric vehicles are expected to emit no measurable amounts
of any pollutants.   The basis for this is that emissions related to
power generation are not  considered.   Also,  electric ILEVs would
need to be dedicated electric vehicles,  or  if hybrid, the vehicles
will use a secondary fuel  which is also  essentially zero emitting,
                                23

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such as  another  alternative fuel meeting  the ILEV qualification
procedures.  When hybrids are developed, test procedures and other
requirements will need to be developed to assess more fully their
evaporative and exhaust emission characteristics.

     Electric vehicles are projected to comprise a relatively small
fraction of the operating ILEVs.  This assumption is based on their
much greater purchase cost,  shorter operating range, and more time
consuming  "refueling" (recharging)   requirement,  as  compared to
other alternative-fuel vehicles.
D.    Clean Conventional Fuel Technologies

     Diesel vehicles emit very low amounts of evaporative emissions
and  would  thus  easily   meet   the  ILEV  evaporative  emission
requirement.  This  conclusion is based on data which establishes
diesel's reid vapor pressure to  be about  0.4  pounds  per square
inch,[10] which is over one order of magnitude  lower than that of
methanol.  This  difference  in vapor  pressure indicates that diesel
vapor emissions would also  be about one order of magnitude lower
than that  of methanol, [11]  which would put  the  total emissions
value at about  0.008 grams per mile.   Because  clean diesel is a
petroleum-based fuel which  includes many reactive compounds,  the
little fuel which  does evaporate is considered to be very reactive.

     Diesel vehicles may not qualify early  on as  ILEVs.   This
projection  is  based on  the current  difficulty diesels  have in
trying to meet more  stringent NOx standards.   As diesel emission
control  technology  advances, which  is  expected to  occur  as  the
sulfur content is  reduced, then new catalyst technology can then be
used allowing diesels to meet more  stringent NOx standards,  and
potentially qualify as ILEVs. Also  helping clean diesel's chances
for being  adopted as an ILEV fuel  are  its current advantages as
being  fuel efficient  and  widely  available.    However,  in  the
                                24

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aggregate the  overall number of  diesel  ILEVs is expected  to be
relatively small.

     Low vapor pressure grades  of reformulated gasoline,  or that
type  fuel  coupled with  new  fuel  storage  technologies,  could
conceivably  be invented  to permit  gasolines to  meet the  ILEV
evaporative  emission  requirements.   If this  technology can be
developed and  implemented,  the amount  of vapor  emissions  would
still need to be lower than the ILEV evaporative emission standard.
Therefore,  any  such technology would emit  evaporative emissions
similar to that expected  for  methanol, which would probably just
qualify for the ILEV evaporative emission requirement without any
new technology.
2.   Composite Vapor Emissions

     For this  analysis,  the  first  step in projecting  the vapor
emissions from ILEVs was to estimate the aggregate emissions from
each technology/group.  "This aggregate figure  was  determined by
totaling the estimated vapor emissions emitted from each emission
source  (i.e.,  refueling,  diurnal,  hot soak etc.).   As described
above,  gaseous-fuel,  and electric ILEVs are considered to emit zero
evaporative  emissions,  and the  nonblended  alcohol and  diesel
vehicle vapor emissions are estimated to be 0.022 and 0.008 grams
per mile, respectively.   Finally,  the emission figures were next
weighted together using an assumed in-use mix  of alternative fuels
projected to be  used by  ILEVs.   This assumed mix  is 50 percent
gaseous fueled, 5 percent of electric, and 40 percent composed of
pure   alcohol   (neat  alcohol)   and  clean   conventional  fuel
technologies with less than 5 percent  of this  expected  to  be
diesel.

     This  assumed mix  of  fuels/technology   results  in a vapor
emission factor of 0.01 grams per  vehicle-mile and will  be used in
                                25

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the  following comparison between  ILEVs  and base  case vehicles.
Even  assuming that all  the ILEVs are  alcohol fueled  or  used a
technology which  just met  the  ILEV standard,  the vapor emissions
would only rise to 0.022 grams  per mile.  Conversely, if all ILEVs
were zero emitting such as electric or the gaseous-fuel type, the
vapor emissions would be zero.  From this data it is clear that the
use  of  ILEVs  in  place  of  base  case vehicles  would essentially
eliminate vapor emissions.
d.   ILEV Emission Benefit

1.   Individual Vehicle Benefit

     The projected, per vehicle hydrocarbon vapor emission benefit
from the use  of ILEVs is simply the  difference between the ILEV
composite  emission factor  and the base case  vehicle composite
emission factor.    As summarized  in  Table  5   for  several  years
starting in  1998,  ILEVs are  expected to realize  vapor emission
reductions  in  the  range   of  0.47   -   0.57  grams/mile/vehicle.
Considering the  total hydrocarbon emission  inventory  (vapor and
exhaust emissions)  as  currently estimated for  base case vehicles
and assuming no reduction in ILEV NMOG exhaust emissions over other
CFFVs,   ILEVs  would  be expected to  be  about  50  percent  lower
emitting in NMOG emissions than base case vehicles.  If ILEVs are
indeed lower in exhaust emissions as expected,  then the emissions
reduction would be even greater.

     If some  of the  fleets are required to implement  Stage  II
refueling emission controls at their refueling facilities (coverage
may extend to  10 percent of  fleet vehicles),  the vapor emission
benefit would  be  somewhat  reduced.    The above  stated emission
benefit figures for year 2000 base case vehicles would be reduced
about 4 percent to  0.47 g/mi/vehicle.  The relative  significance of
the ILEV vapor emission benefit remains essentially the same.
                                26

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2.   Aggregate Benefit

     The annual emission  benefit  from all operating ILEVs is the
product of the emission benefit per ILEV, the projected number  of
operating ILEVs,  and the average annual  mileage  of ILEVs.  This
calculation is shown in the following equation:
(eBase Case   GILEv) X n
                                       iLEV
          EB ILEV      =  Total ILEV Emission Benefit
          e Ba.« ca.«    =  Emission Factor for Base Case Vehicle
          e ILEV       =  Emission Factor for ILEV
          n ILBV       =  Number of ILEVs
          VMT riMt     =  Annual Miles Travelled by Fleet Vehicles
     The future number of operating ILEVs is difficult to predict.
The  reasons  for  this  difficulty  stem   from  the   uncertainty
surrounding the  future cost and availability  of ILEVs and their
fuels,   the   public   acceptance   of  such  vehicles,  and  the
effectiveness of expanded  TCM exemptions and other incentives to
encourage their purchase.  Because of the difficulty  in assessing
these  issues,  a wide  range of  in-use  ILEVs  population  will be
assumed  to be operating, to encompass  the  various possible  ILEV
purchase scenarios that  could unfold.  Certain points within  this
range  are  computed  as  fractions  of the  total CFFVs which EPA
estimates will be purchased for the  fleet program.[1]  The middle
value in this range is based on the  fraction of  fleet vehicles in
wholesale and retail delivery  fleets, which is about  1/15 of the
total number of fleet vehicles.[12]  These fleets would most likely
want to  take  advantage of  the HOV lane  incentives.   The range of
operating  ILEVs encompassing  the  1/15  value  starts  at  1/50 of
operating CFFVs at the  low  end, and extends to 1/5 at the high  end.
                                27

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     The weighted  average annual  mileage  of fleet  vehicles was
calculated to  be 19,500 miles per year based on  the  figures in
Table  2  for the  average fleet mileage and projected  number of
vehicles for  the four  vehicle  classes involved.   The projected
number of  ILEVs,  the vapor emission 'reduction of  ILEVs,  and the
composite average annual mileage figure combine together in Table
5 to project the hydrocarbon  vapor reduction benefit of the ILEV
program. The gram/mile  emission reduction benefit for ILEVs varies
over the years because of the change  in the vehicle  mix  in the
fleet.
                                28

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Table 5 - Calculation of Total Vapor Emission Benefits  from the  ILEV Program
Year





1998


1999


2000


2005


2010

Projected
Number of
Operating
CFFVs


106,000


270,000


498,000


996,000


1,130,000

Fraction of
CFFVs as
ILEVs


1/50
1/15
1/5
1/50
1/15
1/5
1/50
1/15
1/5
1/50
1/15
1/5
1/50
1/15
1/5
Projected
Number of
Operating
ILEVs

2,100
7,100
21,200
5,400
18,000
54,000
10,000
33,200
100,000
20,000
66,400
199,000
22,600
75,300
226,000
Emission
Reduction
of ILEVs
(g/mi)


0.57


0.52


0.49


0.47


0.47

Composite
Mileage of
Fleet
Vehicles
(mi/year)

20, 800


20,100


19,500


20,100


19,000

Total
Emission
Benefit
from ILEVs
(tons/year)
28
93
280
62
210
620
105
350
1050
210
690
2100
230
750
2300
                                            29

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     The figures indicate a range of vapor reductions from 105 to
1050 tons per year in the year  2000,  and 230 to 2300 tons per year
in the year 2010.  Since the projected number of ILEVs operating is
linked to the number of operating CFFVs,  the increase in emission
reductions associated with the  phase-in of the program plateaus by
the year 2005.   After that point, smaller increases  in emission
benefits which  are  expected would result from the  growth of the
fleet industry, although  there  could be  additional expansions of
the program through state initiatives.

     The projected aggregate emission benefit of the ILEV program
would be smaller if Stage II refueling emission controls affected
a portion of the  fleet vehicles.   Considering that 10 percent of
the vehicles could  be affected,  the  projected aggregate emission
reduction would be reduced by about 4 percent.

     Conversely,  the  emissions benefit would be much  larger if
fleets resell their ILEVs  to the general public.   Up to this point,
ILEVs were  assumed to be held by the fleet to the end  of the
vehicle's useful life.  This approach was chosen because the fuels
projected to be used by ILEVs may not be available to the general
public.  However,  if the fuels are made widely  available,  (which is
likely where local alternative fuel programs or the National Energy
Strategy  is  implemented),  if  fleets  continue  their  current
practices  of reselling  their  vehicles prior to  reaching their
useful life, and  if states  offer incentives  to noncovered fleets
and the  public, then ILEV resale prior to  full useful  life is
probable.

     Such ILEV  sales  to  the public would increase  the  number of
ILEV purchases and also yield associated emission benefits.  In the
most optimistic scenario,  all ILEVs would be sold off to the public
at the same rate  currently seen by  the  fleet industry,  which is
about 3 years for LDVs,  4 years for LDTs and 5 years for HDVs.[l]
At these turnover  rates and using average fleet mileage, LDVs, LDTs
                                30

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and HDTs would be  sold with about  45,000 miles,  60,000 miles and
75,000 miles on the vehicle, respectively.  Comparing these mileage
figures  with those  of useful life  would give  a sense  for the
potential increase in the number  of operating ILEVs and associated
emission reductions which could be realized.  The useful lives of
LDVs, LDTs and HDTs are 100,000 miles, 120,000 miles, and 120,000
miles,  (the weighted  average for light  and medium  heavy-duty
vehicles), respectively.[13]

     The ratio  of mileage  to  useful  life indicates that  fleets
typically sell their fleet vehicles with about half of the useful
life left for those vehicles.   Since half of accrued mileage would
occur outside of  fleets, the effective ILEV fleet  size would double
as a result.  The total impact of the  increased ILEV fleet would be
observed when the entire fleet turns over.  After the start of the
fleet program in 1998 when the number  of  ILEVs  sold is expected to
increase, and if current fleet resale practices apply,  then the
resale of light-duty ILEVs would begin as soon as  three years later
in 2001.  The number of ILEVs operated in the public sector would
catch up to  the sales to fleets 10 years after 1998 when the heavy-
duty  fleet   vehicles  would  have  completely  turned over.    The
emissions impact of ILEVs depends on the  increased number of ILEVs
which would  begin  immediately  and  would increase until the fleet
size stabilizes in 2008.

     Based  on  the  scenario laid  out above,  the ILEV  emission
benefit  figures  determined  above  would be  adjusted  upwards  to
include  the  potential additional  ILEV sales  and  associated air
benefits.  Thus, the  above  projected  year  2010 ILEV VOC emission
benefits of  230 - 2300 tons per year would increase to 460 - 4600
tons per year.
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e.   Conclusion

     The  projected composite  hydrocarbon vapor  emission factor
(0.01 g/mi/vehicle) for ILEVs is very low compared to the projected
composite   emission   factor   for   base   case   CFFVs    (0.50
grams/mile/vehicle).    The  purchase  of  ILEVs  by fleets  would
essentially eliminate vapor emissions relative to base case vehicle
purchases.  Preliminary  exhaust  emission calculations  shows base
case vehicles  to emit about equal quantities of hydrocarbon exhaust
emissions as  evaporative emissions.   Even assuming equal exhaust
hydrocarbon  emissions  from  ILEVs   (which  would  seem  to   be  a
conservative assumption), the purchase of ILEVs is projected to cut
NMOG emissions by  over one half.  Thus,  ILEVs would be much cleaner
vehicles than base case  vehicles,  and are justified in receiving
the  additional  TCM exemptions  and other  incentives extended to
them.

     Compared to other emission control programs, the per vehicle
benefit  of ILEVs is  significant.    Reformulated gasoline and
enhanced inspection/maintenance programs are two emission control
programs  currently  being considered for  implementation,  and EPA
estimated  either  to  reduce  exhaust  and  evaporative  nonmethane
emissions  by   about   one  quarter.    Based  only  on  evaporative
emissions,  the ILEV  program  would  be  incrementally twice  as
effective as these other programs.

     If ILEVs are  resold by fleets to noncovered fleets and to the
private sector  before  the vehicles  reach their full useful  life,
the aggregate number  of  ILEV sales and related emission benefits
would increase. The extent of the increase would seem to depend on
the availability of ILEV fuels  and the  degree to which states make
incentives available  to  noncovered fleets and  the public.   This
analysis demonstrates how this effect could potentially  double ILEV
sales and emission benefits.
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     The  aggregate  emission benefits  of the ILEV  program would
increase  following  promulgation  of  additional  transportation
control  measure  exemptions for  ILEVs.    EPA  proposed  in  the
rulemaking process to study other incentive programs  and promulgate
additional  TCM exemptions  that  make good policy  sense.   These
additional  exemptions  would be expected to result  in  more ILEV
purchases and,  as more  conventional  vehicle or  LEV purchases are
supplanted by ILEVs, the total emission benefit will rise.
V.   Affects of ILEV Use of HOV Lanes

a.   Background

     Now that the ILEVs have been shown to be much lower emitting
than the  base case  vehicles,  the next  task is to  compare that
benefit with any implications of ILEVs using HOV lanes.


1.   What are HOV Lanes?

     High-occupancy vehicle  (HOV) lanes  are  special  lanes of the
road restricted for  use  by vehicles  carrying multiple occupants,
such as carpools,  vanpools, and buses.  Several different types of
HOV lanes have been  implemented  and  each of  these types could be
affected by  the  ILEV program.   These  include  freeway HOV lanes,
arterial HOV lanes, and bus-only lanes.  Other HOV lane lanes are
really  variations  of  the  above,  and  include  freeway  ramps and
bridge  and toll  road HOV lanes.   Because  bus-only  lanes are
generally not open to vehicles  other  than buses, they would not be
available for use by  ILEVs under  the federal program.  The  state
and local governments, however,  could choose  to open up such  lanes
to  ILEVs  on  a  case-by-case basis.    This report will  focus  on
freeway  HOV  lanes  because  of  their  relative  high usage and
widespread implementation,  and because data are much more available
                                33

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on their operation.  It is reasonable to  assume  that the impact on
other types  of HOV lanes  would be similar to  that  expected for
freeway HOV lanes, since they are all used in essentially the same
ways.

     Two conditions must be present for HOV lanes to be successful
as transportation control measures.  First, the volume of traffic
in the general purpose lanes  (non-HOV lanes) must be great enough
to cause frequent congestion problems during the heavy traffic or
peak periods.  Second,  the volume of HOV  lane traffic flow must be
sufficiently low to avoid congestion even during the rush period.
This  difference   in  traffic  flow  would  then  provide  a  twofold
incentive for  single occupancy  drivers to join  a carpool and use
the HOV facility.  The first incentive is that  the daily commute
takes less time,  and second is the  greater reliability of arriving
at one's destination on time  (i.e., fewer or no traffic jams).
2.   HOV Lane Benefits

     HOV lanes  can  produce a range of benefits.   One benefit is
motor vehicle  emission reductions, which can be  separated into
primary and secondary reductions.  The primary emission reduction
is the elimination of emissions from vehicles the drivers of which
become  passengers  in  other  vehicles.    These  reductions  are
significant, since potentially each additional rider eliminates a
vehicle trip.   The  secondary emission reduction results from the
reduced congestion brought about by the reduced number of vehicles
on the road.  More efficient traffic flow decreases total vehicle
emissions because vehicles  are spending  less  time in inefficient
stop-and-go operation. For several reasons the emission reductions
from HOV  lane  use have not  been perhaps  as  large  as originally
anticipated by those studying the effectiveness of HOV lanes.[14]
However, the use  of HOV lanes  is  positive from an environmental
prospective.
                                34

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     Other  benefits  of  HOV lanes  which result  from congestion
relief  include  decreased energy consumption,  increased economic
efficiencies related to transport of people and goods, and reduced
need to  expand  freeway capacity.   When  realized,  these benefits
increase economic efficiency by reducing  the  cost or time it takes
to do  business.   In addition,  to  the extent that  congestion is
reduced, HOV lanes may also lower public frustration from traffic
j ams.

3.   HOV Lane Utilization

     HOV  lane  traffic  flow is  considered undesirable  if  it is
either too  high  or too low.  In the case of freeways,  a rule of
thumb which has been established  is that the flow is considered too
high if it increases  above 1500 vehicles  per  hour.[15]  Above this
level, the  lane  begins  to appear full  and the HOV lane incentive
that lures  potential carpoolers  to  participate begins to be less
inviting.   The  maximum  of any lane  carrying a  normal mix of
vehicles under normal  weather  conditions is  accepted to be about
2000 vehicles per hour.  At this point unstable flow or stop-and-go
traffic usually begins.[16]  The second issue occurs when the HOV
lane drops to about 800 vehicles per hour or lower.  At these lower
traffic  flows,   the  HOV   lane  appears  practically  empty  and
objections by the general public to the lane can arise.   The most
optimum flow would seem to  occur around 1500 vehicles per hour at
which  point all  lanes  of the freeway are   carrying  the maximum
numbers of persons and vehicles.
b.   Method of Analysis

     The HOV lane analysis presented here projects the increase in
HOV lane traffic  flow  arising  from the use of ILEVs and assesses
whether current vehicle volume would be increased above the 1500
vehicles per hour threshold thought to be the  indicator of optimum
                               35

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flow for HOV lanes.   The analysis further quantifies the impact of
allowing ILEVs access to HOV lanes by assessing how the increased
flow may  decrease HOV  lane speed.   To best  predict  the actual
impact of  ILEVs,  the analysis used  lane-use  data collected from
existing HOV lanes.

     The analysis of the impact of ILEVs on HOV lanes was made in
three steps,  and each step often involved several substeps.  First,
several urban areas with HOV lanes were chosen for study.  Then, to
project the number of operating ILEVs in each of those areas, the
number of operating CFFVs in each area was projected and, the same
broad  range  used in the ILEV  emission reduction  section above
(1/50,  1/15,  1/5)  was applied here.  In addition,  however, the ILEV
range was adjusted by the fraction of urban freeways in each area
projected to have HOV lanes. This  adjustment brings the projected
number of ILEVs more  in  line with the estimated amount of available
incentives.  Finally, the third  step was  to assess the impact of
ILEVs  on  the traffic flow  in  HOV lanes during  the  peak traffic
period.  Each of these  steps is detailed below.

     To project  the  impact  of ILEVs  on HOV lanes,  several urban
areas  with HOV  lanes  were  chosen for  study.    Houston,  Texas;
District  of  Columbia;   Los Angeles,   California,  and  Seattle,
Washington were chosen because HOV lanes are already functioning in
these areas,  and data on their use patterns have been collected and
were readily available.   The entire urban area was studied because
each HOV lane  and associated freeway lanes  are part of a traffic
management strategy  for the urban area where  they  are located.
Furthermore, these areas, except  for Seattle,  are all covered by
the clean-fuel  fleet program.  Although Seattle is not a covered
area, it was  chosen because  it is similar in population and highway
characteristics to Atlanta  and Baltimore,  which do not currently
have HOV lanes to analyze.  Like Baltimore and Atlanta, Seattle has
about  2 million inhabitants,  and  about 10  freeways  entering and
encircling the urban area.
                                36

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     The next step was to project the number of operating CFFVs in
each of the chosen areas.  This number was found by adjusting the
projected nationwide number of CFFVs in  all  areas  covered by the
fleet program  by the  area  fuel  use fraction  of the  area being
studied.[1]  Table  6 below summarizes these steps  and resulting
numbers.
Table 6 - The Number  of  CFFVs  in Particular Urban Areas  for the
          Years 2000 and 2010.
Area Being
Studied
Houston
Texas
District of
Columbia
Seattle
Washington
Los Angeles
California
Area Fuel
Fraction
0.059
0.050
0.033
0.193
Year
2000
2010
2000
2010
2000
2010
2000
2010
Number of
CFFVs*
30,500
69,400
25,800
58,800
16,900
38,300
99,800
227,000
*    Number of CFFVs  for entire U.S.  was estimated to be 516,900
     cars and trucks in the year 2000, and 1,176,000 in 2010.[1]

     Next, the number  of operating  ILEVs was determined for each
area studied.   Consistent with Section  IV above,  the  number  of
ILEVs is projected to  fall within a relatively broad range based on
                                37

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fractions - of the  projected number of operating  CFFVs.   The same
range of fractions  (1/50, 1/15, 1/5) is used as a starting point;
however, in this case the range is adjusted lower by the fraction
of  freeways  in  that  particular  urban  area  expected to  have
operating  HOV  lanes  by  the  year 2000.    This  fraction  was
established with the HOV  lane information summarized in Table 13 in
the Appendix,[17] and the use of a recent road atlas.  In effect,
this approach reasonably supposes  that  only fleet operators near
HOV lanes will purchase  and use ILEVs.

     The third  step  was  to  determine the extent that ILEVs might
increase HOV traffic flow during  the heaviest traffic periods of
the day.  To conduct this analysis, information was needed on how
the ILEV population  would be dispersed throughout the heavy traffic
period  and to   determine the  duration  of  that  period.    The
dispersion   of    ILEVs   was   determined   from  the   operating
characteristics  of  fleets  in  general.    Based on  the  operating
characteristics, it  is reasonable to believe that fleet vehicle use
of HOV  lanes  would  be equally dispersed throughout  the commute
period.   These vehicles are used for various  delivery purposes such
as  raw  and  finished  material  deliveries;  mail,  package  and
administrative paperwork  deliveries and each application would tend
to demand a different vehicle  use schedule.  Furthermore,  fleets
try to minimize  their costs by accomplishing multiple tasks in the
immediate area  of their  destination prior  to  returning to their
central location. This requires additional time in the destination
area. Based on  these characteristics, fleet use of HOV lanes would
be limited  to  perhaps  one  trip per vehicle  during each commute
period,  and the tendency is that the trips would be dispersed.

     The heaviest traffic period was identified  by studying the
characteristics of  urban highways and current  HOV  lanes.   Urban
highway  traffic  flows   tend  to  be  highest  during the  commute
periods, and the  absolute highest during the  peak-hour of those
periods.  For the  HOV lanes analyzed, the peak-hour flow during the
                                38

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morning commute, was generally found to be the maximum flow period
of the  entire  day. [18]   The  morning  commute period  is  usually
reported to occur from 6:00 a.m. to 10:00 a.m.[18]

     Based  on  the  discussion  above,  it  was  then possible  to
estimate HOV  lane use  by  ILEVs during  the  heavy traffic periods.
Fleet vehicles would be expected to make only one trip during the
heavy  traffic   period  and  based  on  the  variety   of  fleet
applications, these trips  would be spread out over the entire heavy
traffic period.   Information suggests that the heavy traffic period
is about 4 hours.  Therefore, the ILEV population using HOV lanes
is divided  by 4 to estimate  the  number of  ILEVs which would be
added to an HOV lane during the peak-hour traffic period.

     The impact of ILEVs on HOV lane traffic flow in each studied
area was analyzed with the  use of a commonly used highway design
diagram.  This diagram, reproduced in Figure 1 in the appendix, was
developed by transportation engineers to relate the traffic speed
in any one  lane to  the traffic flow.[14]   For this analysis, the
diagram was used to determine the change in average vehicle speed
which might  occur  from a given increase in  the flow of traffic.
The far right point of the diagram's curve indicates the "maximum
flow point"  of  about  2000 vehicles per hour.   When the "maximum
flow point" is reached, further traffic demand begins to result in
a  drastic  decrease in  lane  flow and  speed.    This  resulting
condition is termed unstable flow.[16]

     This analysis  methodology was  applied  to  each of the four
urban areas  studied.   This next  section summarizes the specific
information used in making  the analysis  for each urban area, and
the results of the individual analyses.
                                39

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c.   Case-^by-Case Analyses

I.   Houston, Texas

     The Houston area provides an especially good case to evaluate
for this analysis because several HOV lanes are already implemented
and designs  are complete to  add  more  HOV lanes.   Figure 2 in the
Appendix shows the existing and planned HOV lanes for the Houston
urban area.[19]  The future highway HOV lane system serves almost
every quadrant surrounding the city center,  except for 1-10 to the
east and SH 288 to the south.

     As  described  in the  subsection  above, the  previously used
broad range  of fractions  (1/50,  1/15,  1/5) was  adjusted by the
fraction of  freeways with  HOV lanes and applied to  the number of
CFFVs in Table 6  to project  a  range  of operating ILEVs.   The
Houston area has 10 total highways and 6 of these are expected to
have HOV lanes;[17,19]  the  previously  used fractions are therefore
adjusted downward by  6/10  to 1/80, 1/25,  and 1/8.   The range of
ILEVs operating  in each HOV  lane is determined by  dividing the
projected range of ILEVs for the entire area by the number of HOV
lanes.  Finally, the number of ILEVs operating during the morning
peak hour  was  determined by multiplying  the  calculated range of
ILEVs expected to  be  operating  in  each  HOV  lane  by  the  1/4
adjustment factor discussed in the previous section.  The results
of these calculations are summarized below in Table 7.
                                40

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Table 7 --Projected Number of ILEVs Operating in Houston HOV Lanes
          During Peak Hour
Area Being
Studied




Houston
Texas



Year



2000


2010

Adjusted
Range of
Fractions

1/80
1/25
1/8
1/80
1/25
1/8
Number of
Operating
ILEVs

380
. 1,220
3,810
870
2,800
8,700
ILEVs
Operating
in Each
HOV Lane
60
200
635
140
460
1,400
ILEVs
Operating
During
Peak Hour
15
50
160
36
120
360
     The impact on HOV lane volume caused by the use of ILEVs was
projected by adding the estimated ILEV peak-hour operating volume
to that recently recorded  for  an  existing HOV lane.   The Houston
highway labeled 1-10, which is also  called the Katy Highway, has
been studied extensively and that available data was used for study
in this  analysis and  reasonably  assumed  to  apply  to the  other
Houston HOV lanes as well.  The data reveal that the Katy highway
peak-hour flow is  about 1050  vehicles per  hour.[19]   Adding the
range of ILEVs projected to be operating during the peak hour in an
HOV lane in the year  2000  to  the  current volume of  1050  vehicles
per hour yields a range  of  1065 - 1200 vehicles per hour.  The same
calculation performed for  the  year 2010  yields a range of 1085 -
1400 vehicles per hour.

     The impact of this projected increased  volume  in HOV lanes
during peak hour can be estimated by using the  vehicle speed versus
traffic flow diagram  (see Figure 1 in the Appendix).  By dividing
the initial flow of 1050 vehicles per hour by the potential maximum
flow of 2000  vehicles per hour, a volume/capacity  ratio of 0.53
                                41

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results.   This value  forms the  baseline  of comparison, for the
projected increased traffic flows after the introduction  of ILEVs.
Using the potential maximum HOV and ILEV traffic volume in the year
2000 of  1200 vehicles per  hour  and dividing  by 2000 vehicles per
hour, a volume/capacity value of 0.60  is produced.   The 0.53 value
corresponds  with  57  miles  per  hour,  while  the  0.60  value
corresponds with the value of about  56 miles per hour (using the
non-California curve in the diagram) , or a 1 mile per hour decrease
in speed.  The  impact  on traffic speed determined from the other
value for  the  year 2000,   and the upper and  lower  values  of the
range for the year  2010 were calculated in the same fashion.  These
calculations show  that  the projected  increase  in traffic volume
would cause average vehicle speed to be reduced  by 0-1  miles per
hour in the year 2000,  and 0-2 miles per hour in the year 2010.
These projected changes in  flow are  essentially insignificant,
especially considering the hourly and daily variations in traffic
flow typically seen on these roads.
2.   District of Columbia

     The District  of Columbia currently has  three operating HOV
lanes and tentatively plans to implement one more as indicated in
Figure 3 in the Appendix.[19]   The  HOV lane which has been studied
and documented extensively  is called the Shirley Highway, or 1-395;
the others are 1-66,  1-95 (which is an extension of  1-395), and the
Dulles tollroad.[15,19]  There are a total  of ten major highways
entering and connecting the D.C.  urban area.  Using these figures,
the previously  used fractions are adjusted downward  by  4/10 to
1/125, 1/40, and 1/12.  The peak hour volume is reported to be 2460
vehicles per hour  for  two  HOV lanes of traffic, or 1230 vehicles
per hour in each lane.[19]   These  figures and assumptions as they
apply to the D.C. HOV lanes are summarized below in Table 8.
                                42

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Table 8 - Projected  Number  of  ILEVs  Operating  in District  of
          Columbia HOV Lanes
Area Being
Studied




District of
Columbia



Year



2000


2010

Adjusted
Range of
Fractions

1/125
1/40
1/13
1/125
1/40
1/13
Projected
Number of
Operating
ILEVs
210
650
1,980
470
1,470
4,520
ILEVs
Operating
in Each
HOV Lane
50
160
500
120
370
1,130
ILEVs
Operating
During
Peak Hour
13
40
125
30
90
280
     Using the  methodology  used for Houston above,  the HOV lane
traffic  for Washington  DC  is expected  to  increase  from  1230
vehicles per hour to 1243  -  1355  vehicles per hour  in the year
2000, and to 1260 -  1510 vehicles per hour in 2010.  Using the lane
speed  versus  flow  diagram,  these  flow increases correspond  to
average vehicle speed reductions of 0 - 1 mile per hour in the year
2000, and 0-3  miles per hour in 2010.   Once again, this effect is
essentially insignificant.
3.   Seattle, Washington

     The HOV lane in Seattle which has been adequately studied is
1-5 North.  Other existing and planned HOV lane lanes are:  1-90,
1-5 South, 1-405,  SR 167,  SR 522, and SR 520.   There are a total of
10 major highways entering and connecting the Seattle urban area.
The highways with and  without  HOV  lanes  are  shown in Figure 4 in
the  Appendix.[19]    Using these  figures,  the  initial  range  of
                                43

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fractions was adjusted by  7/10  to  1/70,  1/20,  and 1/7. . The peak
hour volume for 1-5 was reported to be 500 vehicles per  hour, which
is below the undercapacity point for freeway HOV lanes.  Since the
data was collected,  the HOV lane occupancy was modified from 3 to
2 minimum  occupants per  vehicle,  and the  lane  volume  has very
likely  increased.   However, this  report will  evaluate  the data
available at this point in time.  These figures  and assumptions as
they apply to the Seattle HOV lanes are summarized below in Table
9.
Table 9 - Projected Number of ILEVs Operating in Seattle HOV Lanes
          During Peak Hour
Area Being
Studied




Seattle
Washington



Year



2000


2010

Adjusted
Range of
Fractions

1/70
1/20
1/7
1/70
1/20
1/7
Number of
Operating
ILEVs

240
800
2,400
550
1,920
5,470
ILEVs
Operating
in Each
HOV Lane
34
110
340
80
270
780
ILEVs
Operating
During
Peak Hour
10
30
80
20
70
200
     The effect of ILEVs using 1-5 and the other HOV lanes, based
on the higher  occupancy threshold,  can be evaluated  by the same
methodology used earlier.  The HOV lane traffic would be expected
to increase from 500 vehicles per hour  to 510 - 580 vehicles per
hour in the year 2000,  and to 520 - 700 vehicles per hour in 2010.
Using  the  speed  versus  flow  diagram,   these volume  increases
correspond to no vehicle speed reduction in the year 2000 and a 0 -
1 mile per hour reduction in 2010.   Obviously, even if the number
of current  vehicles  using HOV lanes  doubled as a  result  of the
                                44

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recent change  in the occupancy requirement,  the  effect of ILEVs
would still be insignificant.
4.   Los Angeles, California

     Los Angeles has three HOV lanes operating at this time:  the
San  Bernardino  freeway  (1-10)/  the  Newport/Costa  Mesa  freeway
(Route 55) /  and the Artesia freeway  (Route  91) .   Another 18 HOV
lanes are planned which would increase the total number of freeways
with HOV lanes to 21 out  of a total  of 24  freeways. [17,19] ]  These
freeways  are shown in Figure 5  in the Appendix.[19]   Using the
numbers of highways with and without HOV  lanes, the  initial range
of fractions is adjusted by 21/24 to 1/60, 1/17, and  1/6.  Because
of  the severity and  complexity of the  traffic  problem  in Los
Angeles, HOV lanes are used extensively.  The highest flow can be
in  afternoon or morning or near equal for  both;  therefore, the
entire data  set of morning and afternoon peak hour  flow will be
used in lieu of just one data set for all lanes. [19]   The averaging
of the HOV lane peak hour traffic flows  is 1370 vehicles per hour,
and this data is summarized in Table 10 below.
                                45

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Table 10 - Average Peak Hour Flow for HOV Lanes in Los Angeles[19]
HOV Lane
San Bernardino
Route 55
1-405
Route 91
Average Peak
Hour Flow
Morning Peak
Hour Flow
1,445
1,298
1,294
-

Afternoon Peak
Hour Flow
1,267
1,578
1,082
1,629

Average Peak
Hour Flow




1,370
The result of the HOV lane  calculations  are summarized in Table 11
below.
Table 11 -  Projected Number of ILEVs Operating  in Los Angeles HOV
            Lanes During Peak Hour
Area Being
Studied




Los Angeles
California



Year



2000


2010

Adjusted
Range of
Fractions

1/60
1/17
1/6
1/60
1/17
1/6
Number of
• Operating
ILEVs

1,660
5,900
16,600
3,780
13f 400
37,800
ILEVs
Operating
in Each
HOV Lane
80
280
790
180
640
1,800
ILEVs
Operating
During
Peak Hour
20
70
200
45
160
450
                                46

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     The  -analysis shows  that HOV  lane traffic  is  expected to
increase from the current  average of 1370 vehicles  per hour to 1390
-  1570  vehicles per hour  in the year  2000,  and  to  1415  - 1820
vehicles per hour in 2010.  Using the California-specific curve of
the  speed versus  diagram,  these  flow  increases  correspond to
average speed decreases of 0 - 2 miles per hour in the year 2000,
and 0-3 miles per hour in 2010.

     This analysis of the Los Angeles area,  based on  the average of
HOV lane data available, indicates that for the high end estimate
(1/6) in the  out  years  (2010)  ILEVs  may increase  the HOV traffic
flow beyond the  range which transportation engineers  would consider
optimal.  As already stated,  engineers generally design HOV lanes
to maintain the volume of traffic in those lanes at or under 1500
vehicles per hour, and absolutely keep the  flow  in HOV lanes under
the maximum flow of 2000 vehicles per hour.   At the high end of the
estimated range of operating ILEVs,  traffic volume would increase
to values beyond the optimal range.   This impact on HOV lane flow
would be offset, however,  by the commensurate decrease in flow in
the general purpose lanes.

     The 1500 vehicle per  hour design  optimum,  however,  does not
appear to be a hard and fast rule. According to  the  data available
on HOV  lanes, there  are 8  cases  where  the  average peak-hour flow
exceeds the  1500 vehicle  per  hour value,  and  four of  those are
greater than 1600 vehicles per hour.[19]  If HOV lane traffic flow
above the recommended threshold was indeed a significant problem in
those cases,  then steps  to  correct  those situations would have
already been taken.
d.   Conclusion

     The city-specific HOV lane analysis presented in this report
shows that  ILEV use of HOV  lanes would not  cause  a significant
                                47

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vehicle  volume  increase  for  three of  the four  cases .analyzed.
Estimates of ILEV use in Houston, District of Columbia,  and Seattle
(representing Baltimore  and Atlanta)  suggests  that  the probable
traffic  flow increase  in HOV  lanes  is  well  below  the  desired
optimal flow of 1500 vehicles per hour.   The HOV traffic flow was
so  low in  Seattle's  situation  at  the  time the  data  was  being
collected that  the  addition of  ILEVs might actually improve any
public perception of underutilization. Further  analysis shows that
such increases in flow for these three areas would decrease average
vehicle speed only two miles per hour or  less.   Data collected from
most other  HOV  lanes currently  operating  appear to be similar to
these three cases analyzed here. [19]  The increase in  HOV lane flow
would be offset  by the commensurate decrease in  flow in the general
purpose lanes.

     The analysis of the HOV lanes in Los Angeles demonstrates that
there could be some instances where ILEV use of a highly-used HOV
lane could increase  the  flow to  a level  somewhat beyond the design
optimum for a HOV lane.   Several important points need to be made
concerning this case.  First, this analysis conservatively assumed
that the  18  lanes to  be added would all  receive  use at the same
level  as  the 3 current  lanes.   And even  using this assumption,
potential impacts were projected only at the high end estimate in
the out years.

     Second, the modifications currently employed by transportation
authorities  to  relieve  increasing  HOV  demand  could also  be
implemented  for  any similar case created in part  by ILEVs.   One
option  for  accommodating increased demand for  HOV  lanes  is  to
increase  the minimum number of occupants that  will  qualify  a
vehicle to  use  a particular lane.   This method  was employed by
Houston for the Katy freeway.  The  facility was opened as a four-
person-per-vehicle HOV facility and then was eventually reduced to
a two-person  facility to encourage participation.[18]   When the
participation  increased  to extreme levels,  the  minimum vehicle
                                48

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occupancy was increased to a three-person HOV lane during the peak
period. [19]   The  Seattle HOV  lane analyzed  was  only  recently
changed from a three-person  facility to  a  two-person facility to
increase its usage and carrying capacity.

     Another way to accommodate increased demand for HOV lanes is
to increase the number of lanes  available.  The Shirley freeway is
an example of a two lane HOV facility.   This obviously allows for
twice the capacity as  a single lane  facility.  Another possibility
is to convert an existing general purpose lane to another HOV lane.
Also, increased enforcement of HOV lane requirements could help to
reduce use by  eliminating ineligible vehicles.   This  would have
salutary effects m lane use and in public perception regarding HOV
lanes.

     If ILEV overuse  of HOV lanes  were to be  widespread,  there
could be other ways in which the use of ILEVs could be curtailed.
One method would be to require  that ILEVs  be  designed to operate
even cleaner than currently proposed.  For example, more stringent
inspection  and  maintenance  testing  requirements  for  exhaust
emissions  could be  required  for  ILEVs.    This  more  stringent
requirement would guarantee cleaner vehicles,  with the subsequent
result of increasing the owner's responsibility of operating these
vehicles.   Added  future requirements such as these,  if  found to
make good economic sense, could help to limit the ILEV program to
a truly advanced technology program.

     Third, even though there are many potential remedies, EPA is
allowing any state to  seek  a  waiver from  EPA to  allow  them to
discontinue the HOV exemption for part or all of a particular HOV
lane  where  ILEVs  are the  direct  cause  of   extreme  HOV  lane
congestion.  EPA would carefully -consider waiver requests in which
requesting states demonstrate that other solutions are either too
costly or too unreasonable to pursue.
                                49

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V.   Additional TCM Exemptions for ILEVs

     During  the course  of this  analysis,  two  reasons  made  it
apparent that  the  HOV lane exemption proposed for  ILEVs may not
offer  an  incentive   sufficient  enough  to  encourage  widespread
purchases of ILEVs.  First,  not all nonattainment areas covered by
the fleet program have such lanes  or  firm plans to implement them.
As summarized in Table 14 in the Appendix, of the 22 nonattainment
areas covered by the  fleet program, only 11 have committed plans to
have HOV lanes by the end of this decade. [17,19]   And of these 11
areas, only three have committed plans to implement HOV  lanes for
more than half of the major highways in the urban area.  More HOV
lanes are expected to be implemented, however, as states finalize
plans on how to meet  the  urban airshed improvement goals  specified
in the  Act.   Second, during the rulemaking process,  the fleet
industry expressed some  concern that the HOV lane exemption does
not offer an equal  incentive to each fleet.  Apparently, fleets use
highways to varying degrees and the HOV lane exemption would tend
to favor those fleets which use highways  more.  Based on  these two
reasons, many fleets may not be encouraged to purchase ILEVs.

     To offer all fleets an equal playing field to participate in
the  ILEV program,  EPA  intends  to propose  to exempt  ILEVs from
additional  TCMs.    EPA  will  study  the effectiveness  of  each
potential  TCM  exemption to determine  which  of the  additional
exemptions  would provide the  broadest  possible  incentive while
minimizing  any  related  negative  repercussions.    After  such
evaluations, EPA would promulgate those  select  TCM exemptions in
rulemakings giving the  public  the opportunity to  comment on the
proposed exemptions.  EPA  intends to consider all TCM exemptions
including  those  suggested by  the   fleet  industry  during  the
rulemaking process which established the ILEV program.

     As  additional TCM exemptions are promulgated and phased in,
the number of ILEV purchases are expected to increase resulting in
                               50

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associated air  quality benefits.   EPA  intends  to estimate  and
summarize these benefits during the rulemaking process.
                               51

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                           References

1.   Memorandum: "Estimated Number of Fleet  Vehicles Affected by
     the  Clean  Fuel  Fleet Program,"  from  Sheri L.  Dunatchik,
     Standards Development Support Branch, EPA, to Docket A-91-25,
     June 11,  1991.

2.   "Analysis  of  the Economic  and  Environmental  Effects  of
     Compressed Natural Gas as  a Vehicle Fuel, Volume I, Passenger
     Cars and  Light Trucks," Special Report of the  Office of Mobile
     Sources,  Office of Air and Radiation, Environmental Protection
     Agency, April 1990.

3.   "Analysis  of  the Economic  and  Environmental  Effects  of
     Compressed Natural Gas as a  Vehicle  Fuel,  Volume II,  Heavy-
     Duty  Vehicles,"   Special  Report  of  the Office  of  Mobile
     Sources,  Office of Air and Radiation, Environmental Protection
     Agency, April 1990.

4.   "Gaseous  Fuel Vehicle Technology, State  of  the  Art Report,"
     Revised Draft, Prepared for  U.S. Department  of  Energy by EA
     Mueller Incorporated, December 1988.

5.   "Notice of  Public Availability of Modified Text and Supporting
     Documents  and  Information,  Public  Hearing   to  Consider
     Amendments Regarding  the  Calculation and Use of Reactivity
     Adjustment Factors for Low-Emission  Vehicles..." State  of
     California, Air Resources Board, April 21,  1992.

6.   EPA Memorandum:    "Speciation for  SAI Runs/" Lindhjem,  C.;
     Carey. P.;  Somers, J. to Charles Gray Jr.;  April 14,  1992.

7.   "An Assessment of Propane as an Alternative Transportation
     Fuel in the United States," Main Report,  R.F.  Webb, June 1989.
                                52

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 8.    "Analysis  of  the  Economic  and  Environmental  Effects  of
      Methanol as an Automotive Fuel," Special Report of the Office
      of Mobile Sources, Office of Air and Radiation,  Environmental
      Protection Agency,  September  1989.

 9.    "Analysis of the Economic and Environmental Effects of Ethanol
      as an Automotive Fuel," Special  Report of the Office of Mobile
      Sources, Office of Air and Radiation, Environmental Protection
      Agency, April  1990.

 10.   Machiele,  Paul A.,  Flammability and Toxicity Tradeoffs  with
      Methanol Fuels, Technical Paper  Prepared for SAE International
      and  Lubricants Meeting and  Exposition, November 2-5  1987.

 11.   EPA  Memorandum:    Gasoline, Diesel,  and Methanol Refueling
      Emissions - Data Collection; from F. Peter Hutchins to Charles
      L. Gray Jr., August  24,  1989.

 12.   Fleet Marketing Handbook, Number Eight; Fleet Owner, New York,
      NY,  1987.

.13.   Code of Federal  Regulations,  Part  86, Section  86.094-2.

 14.   "High Occupancy Vehicle System Plans, As Air Pollution Control
      Measures," California Air Resources Board,  May  1991.

 15.   Fuhs,  Charles  A.,   "High-Occupancy  Vehicle  Facilities:   A
      Planning,    Design,    and   Operation   Manual,"    Parsons,
      Brinckerhoff,  Quade  and Douglas,  Inc., New York,  NY,  1990.

 16.   Homburger,   Wolfgang,   ed.,   "Transportation   and   Traffic
      Engineering Handbook," Institute of Transportation Engineers,
      Prentice Hall,  Inc.,  New Jersey,  1982.
                                53

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17.   Funs,.  Charles A.,  List of Existing and Planned High-Occupancy
     Vehicle Lanes, Parsons, Brinckerhoff, Quade and Douglas, Inc.,
     May 1992.

18.   Lancaster,  Ann,  and Lomax,  Timothy,  "Conference Proceedings:
     Second National Conference on High-Occupancy Vehicle Lanes and
     Transitways," Texas Transportation Institute, College Station,
     Texas, 1987.

19.   Turnbull, Katherine F., and Russell Hanks,  "A Description of
     High-Occupancy Vehicle  Facilities  in North America," Final
     Report DOT-T-91-05, Texas  Transportation Institute, College
     Station, July 1990.
                                54

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Appendix
   55

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Table 12 - Emission Factors for Base Case Vehicles Operating in 1998 and Thereafter
          (figures in parentheses includes effects of Stage II reductions)
Vehicle
Class

LDV
LDT1
LDT2
HDGV
Weighted
Average
Hot Soak and
Diurnal
Emissions
0.04
0.05
0.05
0.51


Running Loss


0.08
0.07
0.07
0.32


Resting Loss


0.04
0.04
0.04
0.04


Refueling
Emissions

0.17 (0.16)
0.22 (0.20)
0.23 (0.21)
0.36 (0.33)


Total Vapor
Emissions

0.33 (0.32)
0.38 (0.36)
0.39 (0.37)
1.23 (1.20)
0.50 (0.48)

                                            56

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                    Table - 13

          Operational Characteristics of
      Freeway/Highway HOV Facilities in Areas
Covered by the Fleet Program and  Seattle, Washington
Area/HOV Facility
Houston
Existinq:

1-10 (Katy)
1-45 (Gulf)
US-290
(Northwest)
1-45 (North)
Planned

Number of Lanes
Project
Length
(Miles)
Eligibility
Requirements
Facility Type

1 (Reversible)
1 (Reversible)
1 (Reversible)
1 (Reversible)
13
6.5
13.5
13.5
3 + Peak Hours
2 + Other Times
2 + HOVs
2 + HOVs
2 + HOVs
Barrier-Separated;
Reversible-Flow
Barrier-Separated;
Reversible-Flow
Barrier-Separated;
Reversible-Flow
Barrier-Separated;
Reversible-Flow

                         57

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US 59
(Southwest)
US-59 (Eastex)
1-45 (North)
1-45 (Gulf)
District of
Columbia
Exist inq:

1-86 (Northern
Virginia)
1-395 (Shirley)
1-95 (Interim)
1 (Reversible)
1 (Reversible)
Extension to
Reversible
Extension to
Reversible

2-3 each
direction
2 (Reversible)
1 each direction
13.8
20
6.2
9

9.6
11






3 + HOVs
3 + HOVs
3 + HOVs
Flow Lane and
Ramps
Flow Lane and
Ramps
Flow Lane
Flow Lane

Barrier-Separated;
Reversible-Flow
Barrier-Separated;
Reversible-Flow
Concurrent-Flow;
Buffer-
Separated/Non-
Separated
58

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Planned:

1-95
1-66
Dulles Toll Road
Seattle
Existing:

1-5 (North)
1-5 (North Express
Lanes)
1-90 (Interim)

Extension to
Reversible
Concurrent
Concurrent
19
7.5
10



Flow Lanes
Flow Lanes
Flow Lanes

1 each direction
1 (Reversible
w/mixed Flow)
1 (WB only)
5.9 SB
6.2 NB
6
5
2 + HOVs
2 + HOVs
2 + HOVs
Concurrent-Flow;
Buffer-
Separated/Non-
Separated
Concurrent -Flow;
Buffer-
Separated/Non-
Separated
Concurrent-Flow;
Buffer-
Separated/Non-
Separated
59

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1-5 (South)
1-405
SR-167
SR-509
SR-15 (Gig Harbor)
Various Entry
Ramps
Ferry terminal
docks
Planned:

1 each direction
1 each direction
1 (WB only)
1 (MB only)
1
1 .
1
6.7 MB
5.0 SB
8.5
1.1
0.8
0.7
0.1
0.1
3 + HOVs
2 + HOVs
2 + HOVs
2 + HOVs
3 + HOVs
Mostly 3 + HOVs
2 + HOVs
Concurrent-Flow;
Buffer-
Separated/Non-
Separated
Concurrent-Flow;
Buffer-
Separated/Non-
Separated
Concurrent-Flow;
Buf fer-
Separated/Non-
Separated
Queue Bypasses
Queue Bypasses
Queue Bypasses
Queue Bypasses

60

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1-405
1-5 (South)
1-90
SR-520
SR-522
SR-167
Los Angeles
Existing:

Los Angeles, CA,
1-10 (El Monte)
Los Angeles, CA,
Rte. 91
Extensions to
Concurrent
Extensions to
Concurrent
Reversible and
Concurrent
Concurrent
Extensions to
Concurrent
Extensions to
Concurrent

1 each direction
1 (EB only)
31
39
14
6
2.1
12.5

12
8







3 + HOVs
2 + HOVs
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes

Barrier-Separated :
Two-Way
Concur rent -Flow;
Buffer-
Separated/Non-
Separated
61

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Rte. 55
1-405
Over 250 Entry
Ramps
Planned:

1-210
Rte. 91
1-10 (San
Bernardino)
1-10 (Santa
Monica)
1-710 (Harbor)
1 each direction
1 each direction
1
11
24
0.1
2 + HOVs
2 + HOVs
2 + HOVs
Concurrent— Flow;
Buffer-
Separated/Non-
Separated
Concurrent-Flow;
Buffer-
Separated/Non-
Separated
Queue Bypasses

Concurrent
Westbound
Concurrent
Extension to
Concurrent
Concurrent
Trans itway and
Ramps
45
13
10
12
14.5





Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes

62

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1-105 (Century)
Rte. 118
1-405
1-605
1-5
Route 2
Route 14
Route 57
Route 60
Route 101
Route 134
Route 170
Route 1-5
Route 1-5
Routes 55/405,
57/91, 55/91
Route 57
Concurrent
Concurrent
Concurrent
Concurrent
Concurrent
Concurrent
Concurrent
Concurrent
Concurrent
Concurrent
Concurrent
Concurrent
Concurrent
Barrier

Concurrent
18
44
25
20
34
7.5
10
11
32
30
13
5.5
46
3.3
6
10
















Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Flow Lanes
Separated Lanes
HOV Interchanges
Flow Lanes
63

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Route 91
Route 91
Route 215
Baltimore
Existinq :

NONE
Planned:

1-270
Boston

Existinq:

NONE
Planned:

1-90
1-93 (South)
1-93 (North)
Concurrent
Concurrent
Concurrent


19
10
14







Flow Lanes
Flow Lanes
Flow Lanes



Concurrent
Not
Available

Flow Lanes






Concurrent
Barrier
Concurrent
1
1.5
0.5



Flow Lanes
Separated Lanes
Flow Lanes
64

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Denver
Existing:
U.S. 35 (Boulder
Turnpike)
1 (EB Only)
4.1
Buses Only
Queue Bypasses
Planned;
1-25
Reversible
 12
                  Flow  Lanes and
                  Ramps
Greater
Connecticut
Existing:
Hartford,  CT,  1-84
1 each direction
10
3 + HOVs
Concurrent-Flow;
Buffer-
Separated/Non-
Separated
                                          65

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Hartford, CT, 1-91
Planned:

1-91
New York

Exist inq:

Rte. 495 (Lincoln
Tunnel)
Long Island Expy.
Gowanus Expy .
Ft. Lee, MJ (New
York City) 1-95
1 each direction
10
3 + HOVs
Concurrent-Flow;
Buffer-
Separated/Non-
Separated

Concurrent
9

Flow Lanes

1
1
1
1 (EB Only)
2.5
4
2
1
Buses Only
Buses, vanpools,
taxis
Buses/ vanpools,
taxis
3 4- HOVs
Contraflow
Contraflow
Contraflow
Queue Bypasses
66

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Rte. 495 (Lincoln
Tunnel)
Planned:

1-495 (Long Island
Expy . )
Sacramento

Exist ina:

NONE
Planned:

Route 99
San Dieqo

Exist ina:

San Diego, CA
1
0.3
Buses Only
Queue Bypasses

Concurrent


23





Flow Lanes


••
Concurrent

2 (Reversible)
11

8


2 + HOVs
Flow Lanes

Barrier-Separated;
Reversible-Flow
67

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Various Entry
Ramps
Planned:

1-5
1-15
1
0.1
2 + HOVs
Queue Bypasses

Concurrent
Concurrent
21
12


Flow Lanes
Flow Lanes
Fleet program covered areas currently without HOV facilities or plans for such  facilities
Atlanta/ GA
Beaumont - Port Arthur, TX
El Paso, TX
Philadelphia, PA
San Joaquin Valley, CA
Springfield, MA
Baton Rouge,  LA
Chicago, IL
Milwaukee,  HI
Providence, RI
Southeast Desert, CA
                                             68

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I

o
UJ
UJ
Q.
CO
       Figure  1


       SPEED-FLOW RELATIONSHIP

       From 1985 Highway Capacity Manual (70 mph design speed, 8-lane curve)

       With Typical California Operation Shown
 Lower portion of curve j

represents unstable flow
             More typical of

           California operation
    20
    10
                                   0.4     0.5     0.6     0.7


                                 VOLUME / CAPACITY RATIO

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                             Figure  2

                      Houston Transitways
                                                   Eaatex Freeway
Northweat Freeway
                                      North
                                      Tranaitway
Northwest
Transitway
  Freeways with
  HOV Unea
       Southwest Freeway

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               Figure  3

Washington  D.C./Northern  Virginia
              HOV Lanes
       Shirley Hwjr
       (1-305)
       HOV Lane*
1-99
HOV Uoee
                                   Freeway

                                   Freeway with
                                   HOV Lane

                            --•—  WMhinfton O.C.
                                   Boundary
                            	  Rlrer

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                Figure  4
           Seattle  HOV Lanes
1-6 BO*
                                 Coast Un«

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                    Figure  5


           Los Angeles/Orange  County
                    HOV  Lanes
                              San Bernadino
                              Freeway (I-10)
                              Burway
                          Rt 91
                         Commuter Lane
                                           Rt 55
                                           Commuter Lane
freeway with
HOV Lane
Coast Line
                             1-405
                             Commuter Lane

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