GRPE/87/Add.2
RDE: Proposal for a new UN Regulation No. [XXX] on approval of light duty passenger and commercial vehicles with regard to real driving emissions (RDE)
RDE: Proposal for a new UN Regulation No. [XXX] on approval of light duty passenger and commercial vehicles with regard to real driving emissions (RDE)
|
Reference Number: GRPE/87/Add.2
|
Document date: 17 Mar 23
|
Document status: Approved by GR
|
Relevant to
|
View full document file for more information
|
GRPE-87-08
RDE: Proposal to amend GRPE/2023/3
RDE: Proposal to amend GRPE/2023/3
|
Reference Number: GRPE-87-08
|
Proposal to clarify and improve the text of the new Real Driving Emissions type approval regulation per the following justifications:
- In paragraph 3.3.7. the text in brackets is a repeat of content in an Annex. It is good practice to keep definitions to one sentence where possible. Adding “of the tested vehicle” avoids any confusion with family test mass definitions.
- The syntax of the term “power-to-mass-ratio” (with hyphens between all words) should be consistent throughout the document.
- Where a requirement only applies to the approval authority which issued the approval this should be made clear in the text.
- Additional to the technical specifications listed in Annex 5, the Regulation assumes measurement accuracy of PEMS equipment. It therefore appears reasonable that the PEMS equipment is required to also deliver these measurement accuracy.
- As vehicles are designed to be driven predominantly forwards, and rearwards driving although normal practice is an exceptional situation, the possibility to drive rearwards for extended periods should be removed.
- “Velocity” as a physical term is a vector and has to be accompanied by a direction. For clarity this should be replaced with “speed”.
- A large (> 20 K) ambient temperature difference between one day and the next is not representative of real life and can result in unrepresentative catalyst performance. The possibility of a preconditioning at 23 °C followed by a test at below freezing should therefore be removed.
|
Submitted by: OICA
|
Document date: 28 Dec 22
|
Document status: Superseded
|
Relevant to
|
View full document file for more information
|
GRPE-87-08
RDE: Proposal to amend GRPE/2023/3
RDE: Proposal to amend GRPE/2023/3
|
Reference Number: GRPE-87-08
|
Proposal to clarify and improve the text of the new Real Driving Emissions type approval regulation per the following justifications:
- In paragraph 3.3.7. the text in brackets is a repeat of content in an Annex. It is good practice to keep definitions to one sentence where possible. Adding “of the tested vehicle” avoids any confusion with family test mass definitions.
- The syntax of the term “power-to-mass-ratio” (with hyphens between all words) should be consistent throughout the document.
- Where a requirement only applies to the approval authority which issued the approval this should be made clear in the text.
- Additional to the technical specifications listed in Annex 5, the Regulation assumes measurement accuracy of PEMS equipment. It therefore appears reasonable that the PEMS equipment is required to also deliver these measurement accuracy.
- As vehicles are designed to be driven predominantly forwards, and rearwards driving although normal practice is an exceptional situation, the possibility to drive rearwards for extended periods should be removed.
- “Velocity” as a physical term is a vector and has to be accompanied by a direction. For clarity this should be replaced with “speed”.
- A large (> 20 K) ambient temperature difference between one day and the next is not representative of real life and can result in unrepresentative catalyst performance. The possibility of a preconditioning at 23 °C followed by a test at below freezing should therefore be removed.
|
Submitted by: OICA
|
Document date: 28 Dec 22
|
Document status: Superseded
|
Relevant to
|
View full document file for more information
|
GRPE-87-08
RDE: Proposal to amend GRPE/2023/3
RDE: Proposal to amend GRPE/2023/3
|
Reference Number: GRPE-87-08
|
Proposal to clarify and improve the text of the new Real Driving Emissions type approval regulation per the following justifications:
- In paragraph 3.3.7. the text in brackets is a repeat of content in an Annex. It is good practice to keep definitions to one sentence where possible. Adding “of the tested vehicle” avoids any confusion with family test mass definitions.
- The syntax of the term “power-to-mass-ratio” (with hyphens between all words) should be consistent throughout the document.
- Where a requirement only applies to the approval authority which issued the approval this should be made clear in the text.
- Additional to the technical specifications listed in Annex 5, the Regulation assumes measurement accuracy of PEMS equipment. It therefore appears reasonable that the PEMS equipment is required to also deliver these measurement accuracy.
- As vehicles are designed to be driven predominantly forwards, and rearwards driving although normal practice is an exceptional situation, the possibility to drive rearwards for extended periods should be removed.
- “Velocity” as a physical term is a vector and has to be accompanied by a direction. For clarity this should be replaced with “speed”.
- A large (> 20 K) ambient temperature difference between one day and the next is not representative of real life and can result in unrepresentative catalyst performance. The possibility of a preconditioning at 23 °C followed by a test at below freezing should therefore be removed.
|
Submitted by: OICA
|
Document date: 28 Dec 22
|
Document status: Superseded
|
Relevant to
|
View full document file for more information
|
GRPE-87-08
RDE: Proposal to amend GRPE/2023/3
RDE: Proposal to amend GRPE/2023/3
|
Reference Number: GRPE-87-08
|
Proposal to clarify and improve the text of the new Real Driving Emissions type approval regulation per the following justifications:
- In paragraph 3.3.7. the text in brackets is a repeat of content in an Annex. It is good practice to keep definitions to one sentence where possible. Adding “of the tested vehicle” avoids any confusion with family test mass definitions.
- The syntax of the term “power-to-mass-ratio” (with hyphens between all words) should be consistent throughout the document.
- Where a requirement only applies to the approval authority which issued the approval this should be made clear in the text.
- Additional to the technical specifications listed in Annex 5, the Regulation assumes measurement accuracy of PEMS equipment. It therefore appears reasonable that the PEMS equipment is required to also deliver these measurement accuracy.
- As vehicles are designed to be driven predominantly forwards, and rearwards driving although normal practice is an exceptional situation, the possibility to drive rearwards for extended periods should be removed.
- “Velocity” as a physical term is a vector and has to be accompanied by a direction. For clarity this should be replaced with “speed”.
- A large (> 20 K) ambient temperature difference between one day and the next is not representative of real life and can result in unrepresentative catalyst performance. The possibility of a preconditioning at 23 °C followed by a test at below freezing should therefore be removed.
|
Submitted by: OICA
|
Document date: 28 Dec 22
|
Document status: Superseded
|
Relevant to
|
View full document file for more information
|
GRPE-87-08
RDE: Proposal to amend GRPE/2023/3
RDE: Proposal to amend GRPE/2023/3
|
Reference Number: GRPE-87-08
|
Proposal to clarify and improve the text of the new Real Driving Emissions type approval regulation per the following justifications:
- In paragraph 3.3.7. the text in brackets is a repeat of content in an Annex. It is good practice to keep definitions to one sentence where possible. Adding “of the tested vehicle” avoids any confusion with family test mass definitions.
- The syntax of the term “power-to-mass-ratio” (with hyphens between all words) should be consistent throughout the document.
- Where a requirement only applies to the approval authority which issued the approval this should be made clear in the text.
- Additional to the technical specifications listed in Annex 5, the Regulation assumes measurement accuracy of PEMS equipment. It therefore appears reasonable that the PEMS equipment is required to also deliver these measurement accuracy.
- As vehicles are designed to be driven predominantly forwards, and rearwards driving although normal practice is an exceptional situation, the possibility to drive rearwards for extended periods should be removed.
- “Velocity” as a physical term is a vector and has to be accompanied by a direction. For clarity this should be replaced with “speed”.
- A large (> 20 K) ambient temperature difference between one day and the next is not representative of real life and can result in unrepresentative catalyst performance. The possibility of a preconditioning at 23 °C followed by a test at below freezing should therefore be removed.
|
Submitted by: OICA
|
Document date: 28 Dec 22
|
Document status: Superseded
|
Relevant to
|
View full document file for more information
|
GRPE-87-08
RDE: Proposal to amend GRPE/2023/3
RDE: Proposal to amend GRPE/2023/3
|
Reference Number: GRPE-87-08
|
Proposal to clarify and improve the text of the new Real Driving Emissions type approval regulation per the following justifications:
- In paragraph 3.3.7. the text in brackets is a repeat of content in an Annex. It is good practice to keep definitions to one sentence where possible. Adding “of the tested vehicle” avoids any confusion with family test mass definitions.
- The syntax of the term “power-to-mass-ratio” (with hyphens between all words) should be consistent throughout the document.
- Where a requirement only applies to the approval authority which issued the approval this should be made clear in the text.
- Additional to the technical specifications listed in Annex 5, the Regulation assumes measurement accuracy of PEMS equipment. It therefore appears reasonable that the PEMS equipment is required to also deliver these measurement accuracy.
- As vehicles are designed to be driven predominantly forwards, and rearwards driving although normal practice is an exceptional situation, the possibility to drive rearwards for extended periods should be removed.
- “Velocity” as a physical term is a vector and has to be accompanied by a direction. For clarity this should be replaced with “speed”.
- A large (> 20 K) ambient temperature difference between one day and the next is not representative of real life and can result in unrepresentative catalyst performance. The possibility of a preconditioning at 23 °C followed by a test at below freezing should therefore be removed.
|
Submitted by: OICA
|
Document date: 28 Dec 22
|
Document status: Superseded
|
Relevant to
|
View full document file for more information
|
GRPE-87-08
RDE: Proposal to amend GRPE/2023/3
RDE: Proposal to amend GRPE/2023/3
|
Reference Number: GRPE-87-08
|
Proposal to clarify and improve the text of the new Real Driving Emissions type approval regulation per the following justifications:
- In paragraph 3.3.7. the text in brackets is a repeat of content in an Annex. It is good practice to keep definitions to one sentence where possible. Adding “of the tested vehicle” avoids any confusion with family test mass definitions.
- The syntax of the term “power-to-mass-ratio” (with hyphens between all words) should be consistent throughout the document.
- Where a requirement only applies to the approval authority which issued the approval this should be made clear in the text.
- Additional to the technical specifications listed in Annex 5, the Regulation assumes measurement accuracy of PEMS equipment. It therefore appears reasonable that the PEMS equipment is required to also deliver these measurement accuracy.
- As vehicles are designed to be driven predominantly forwards, and rearwards driving although normal practice is an exceptional situation, the possibility to drive rearwards for extended periods should be removed.
- “Velocity” as a physical term is a vector and has to be accompanied by a direction. For clarity this should be replaced with “speed”.
- A large (> 20 K) ambient temperature difference between one day and the next is not representative of real life and can result in unrepresentative catalyst performance. The possibility of a preconditioning at 23 °C followed by a test at below freezing should therefore be removed.
|
Submitted by: OICA
|
Document date: 28 Dec 22
|
Document status: Superseded
|
Relevant to
|
View full document file for more information
|
GRPE-87-08
RDE: Proposal to amend GRPE/2023/3
RDE: Proposal to amend GRPE/2023/3
|
Reference Number: GRPE-87-08
|
Proposal to clarify and improve the text of the new Real Driving Emissions type approval regulation per the following justifications:
- In paragraph 3.3.7. the text in brackets is a repeat of content in an Annex. It is good practice to keep definitions to one sentence where possible. Adding “of the tested vehicle” avoids any confusion with family test mass definitions.
- The syntax of the term “power-to-mass-ratio” (with hyphens between all words) should be consistent throughout the document.
- Where a requirement only applies to the approval authority which issued the approval this should be made clear in the text.
- Additional to the technical specifications listed in Annex 5, the Regulation assumes measurement accuracy of PEMS equipment. It therefore appears reasonable that the PEMS equipment is required to also deliver these measurement accuracy.
- As vehicles are designed to be driven predominantly forwards, and rearwards driving although normal practice is an exceptional situation, the possibility to drive rearwards for extended periods should be removed.
- “Velocity” as a physical term is a vector and has to be accompanied by a direction. For clarity this should be replaced with “speed”.
- A large (> 20 K) ambient temperature difference between one day and the next is not representative of real life and can result in unrepresentative catalyst performance. The possibility of a preconditioning at 23 °C followed by a test at below freezing should therefore be removed.
|
Submitted by: OICA
|
Document date: 28 Dec 22
|
Document status: Superseded
|
Relevant to
|
View full document file for more information
|
GRPE-87-08
RDE: Proposal to amend GRPE/2023/3
RDE: Proposal to amend GRPE/2023/3
|
Reference Number: GRPE-87-08
|
Proposal to clarify and improve the text of the new Real Driving Emissions type approval regulation per the following justifications:
- In paragraph 3.3.7. the text in brackets is a repeat of content in an Annex. It is good practice to keep definitions to one sentence where possible. Adding “of the tested vehicle” avoids any confusion with family test mass definitions.
- The syntax of the term “power-to-mass-ratio” (with hyphens between all words) should be consistent throughout the document.
- Where a requirement only applies to the approval authority which issued the approval this should be made clear in the text.
- Additional to the technical specifications listed in Annex 5, the Regulation assumes measurement accuracy of PEMS equipment. It therefore appears reasonable that the PEMS equipment is required to also deliver these measurement accuracy.
- As vehicles are designed to be driven predominantly forwards, and rearwards driving although normal practice is an exceptional situation, the possibility to drive rearwards for extended periods should be removed.
- “Velocity” as a physical term is a vector and has to be accompanied by a direction. For clarity this should be replaced with “speed”.
- A large (> 20 K) ambient temperature difference between one day and the next is not representative of real life and can result in unrepresentative catalyst performance. The possibility of a preconditioning at 23 °C followed by a test at below freezing should therefore be removed.
|
Submitted by: OICA
|
Document date: 28 Dec 22
|
Document status: Superseded
|
Relevant to
|
View full document file for more information
|
GRPE-87-44
RDE: Proposal to amend GRPE/2023/3
RDE: Proposal to amend GRPE/2023/3
|
Reference Number: GRPE-87-44
|
Proposal to ensure consistency in the vehicle categories within scope across emissions regulations and with regional requirements within Europe. - The current scope of the proposed UN Regulation on RDE (GRPE/2023/3) does not cover all vehicle categories within scope of other UN emissions regulations relevant for light duty vehicles and is inconsistent with regional legislation within the UK and Europe.
- The proposed amendment seeks to allow Contracting Parties to optionally apply this regulation for vehicle category N2 and for M2 vehicles above 3,500 kg technical permissible maximum laden mass when the reference mass is below 2,610 kg. This would enable equivalent coverage of the scope to regional requirements in Europe and the acceptance of a full UNECE emissions regulation package for those vehicle categories in that region.
- Provisions relating to the extension of type approvals to vehicles with a reference mass not exceeding 2,840 kg have also been applied to categories M2 and N2 where Contracting Parties are applying the broader scope of vehicle categories.
|
Submitted by: UK
|
Document date: 11 Jan 23
|
Document status: Formal GR review
|
Relevant to
|
View full document file for more information
|
GRPE-87-44
RDE: Proposal to amend GRPE/2023/3
RDE: Proposal to amend GRPE/2023/3
|
Reference Number: GRPE-87-44
|
Proposal to ensure consistency in the vehicle categories within scope across emissions regulations and with regional requirements within Europe. - The current scope of the proposed UN Regulation on RDE (GRPE/2023/3) does not cover all vehicle categories within scope of other UN emissions regulations relevant for light duty vehicles and is inconsistent with regional legislation within the UK and Europe.
- The proposed amendment seeks to allow Contracting Parties to optionally apply this regulation for vehicle category N2 and for M2 vehicles above 3,500 kg technical permissible maximum laden mass when the reference mass is below 2,610 kg. This would enable equivalent coverage of the scope to regional requirements in Europe and the acceptance of a full UNECE emissions regulation package for those vehicle categories in that region.
- Provisions relating to the extension of type approvals to vehicles with a reference mass not exceeding 2,840 kg have also been applied to categories M2 and N2 where Contracting Parties are applying the broader scope of vehicle categories.
|
Submitted by: UK
|
Document date: 11 Jan 23
|
Document status: Formal GR review
|
Relevant to
|
View full document file for more information
|
GRPE-87-45
RDE: Supporting information on the proposal to amend the scope
GRPE-87-49
RDE: Proposal to amend GRPE/2023/3
GRPE-87-49
RDE: Proposal to amend GRPE/2023/3
GRPE-87-51
RDE: Proposal to amend the authorisation to develop a new UN GTR
RDE: Proposal to amend the authorisation to develop a new UN GTR
|
Reference Number: GRPE-87-51
|
Proposal to postpone the work on a GTR until after pending national/regional legislation has been enacted (e.g., Euro 7 and US proposal on light vehicle emissions).
|
Submitted by: EC
|
Document date: 12 Jan 23
|
Relevant to
|
View full document file for more information
|
GRPE-87-51
RDE: Proposal to amend the authorisation to develop a new UN GTR
RDE: Proposal to amend the authorisation to develop a new UN GTR
|
Reference Number: GRPE-87-51
|
Proposal to postpone the work on a GTR until after pending national/regional legislation has been enacted (e.g., Euro 7 and US proposal on light vehicle emissions).
|
Submitted by: EC
|
Document date: 12 Jan 23
|
Relevant to
|
View full document file for more information
|
GRPE-87-56/Rev.1
GRPE: Adoption status of proposals
GRPE-87-56/Rev.1
GRPE: Adoption status of proposals
GRPE-87-56/Rev.1
GRPE: Adoption status of proposals
GRPE-87-56/Rev.1
GRPE: Adoption status of proposals
GRPE-87-56/Rev.1
GRPE: Adoption status of proposals
GRPE-87-56/Rev.1
GRPE: Adoption status of proposals
GRPE-87-56/Rev.1
GRPE: Adoption status of proposals
GRPE/2023/3
RDE: Proposal for a new UN Regulation on the approval of light duty passenger and commercial vehicles with regard to real driving emissions
RDE: Proposal for a new UN Regulation on the approval of light duty passenger and commercial vehicles with regard to real driving emissions
|
Reference Number: GRPE/2023/3
|
Proposal to update the previously adopted text (GRPE/81/Add.2 and in document WP.29/2020/120) with changes introduced into European legislation on RDE. This document is available with tracked changes in pdf version and docx format.
|
Submitted by: EC and Japan
|
Document date: 28 Oct 22
|
Document status: Superseded
|
Relevant to
|
View full document file for more information
|
GRPE/2023/3
RDE: Proposal for a new UN Regulation on the approval of light duty passenger and commercial vehicles with regard to real driving emissions
RDE: Proposal for a new UN Regulation on the approval of light duty passenger and commercial vehicles with regard to real driving emissions
|
Reference Number: GRPE/2023/3
|
Proposal to update the previously adopted text (GRPE/81/Add.2 and in document WP.29/2020/120) with changes introduced into European legislation on RDE. This document is available with tracked changes in pdf version and docx format.
|
Submitted by: EC and Japan
|
Document date: 28 Oct 22
|
Document status: Superseded
|
Relevant to
|
View full document file for more information
|
WP.29/2020/120
Real-Driving Emissions: Proposal for a new UN Regulation
Real-Driving Emissions: Proposal for a new UN Regulation
|
Reference Number: WP.29/2020/120
|
GRPE proposal for a new UN Regulation on uniform provisions concerning the approval of light duty passenger and commercial vehicles with regards to real driving emissions (RDE).
|
Document date: 24 Aug 20
|
Document status: Formal WP.29 review
|
Relevant to
|
View full document file for more information
|