ABSTRACT
ASHRAE Standard 90.1-2019, various energy standards and energy codes require demand control ventilation (DCV) of high occupant density spaces. DCV is defined in the Ventilation Rate Procedure (VRP) or ASHRAE Standard 62.1-2019. DCV adjusts ventilation rates based on the ventilation zone population, however, many industry professionals are convinced that DCV requires that ventilation zone CO2 levels are maintained. This paper clarifies industry misconceptions regarding DCV and exposes the significant uncertainties associated with CO2 -DVC. The paper also offers two improved methods for those who want to use CO2 as a method of demand control ventilation. Both methods use outdoor airflow measurement either at the air handler (recirculating air systems) or ventilation zone (DOAS). Finally, the paper suggests that the industry considers using direct occupancy measurement, rather than CO2, as a method of DVC when feasible.
The Ventilation Rate Procedure (VRP) of ASHRAE Standard 62.1-2019 defines DCV. DCV is a subset of §6.2.6, Dynamic Reset, and is defined under §6.2.6.1, Demand Control Ventilation (DCV). §6.2.6.1.1 states: For DCV zones in the occupied mode, breathing zone outdoor airflow (Vbz) shall be reset in response to the current population.
The question we ask of those that use CO2 -DCV as a method of compliance is as follows: “If you know the indoor CO2 level and the outdoor air CO2 level, how many people are in the ventilation zone?” Nobody answers the question.
The reason? CO2 alone cannot estimate the population. It is not an occupancy counting device.
The follow-up question is: “If you don’t know the population, how do you know your CO2-DCV strategy is in compliance with Standard 62.1- 2019?” The answer we get from most states is that “ASHRAE 62 requires CO2 levels be maintained”, which, as we will see, is not true. To better understand DCV, one must analyze the requirements of the VRP and relationship between CO2 and ventilation.
The breathing zone outdoor air, Vbz, is determined based on the design, or typical usage population in accordance with equation 6-1 of the VRP when the Standard is used for design purposes. However, §6.2.6.1.1 essentially makes 62.1 into an operational standard where Vbz must be established in real-time based on the current population.
Vbz is determined in accordance with Equation 6-1 of the Standard based on the current population.
Vbz = Rp · Pz + Ra · Az (ASHRAE 62.1-2019 Equation 6-1) where Rp = outdoor airflow rate required per person from ASHRAE 62.1-2019 Table 6-1
Pz = the CURRENT population of the ventilation zone (as per §6.2.6.1.1) Ra = outdoor airflow rate required per floor area from ASHRAE 62.1-2019 Table 6-1
Az = zone floor area
As a result, any strategy claiming compliance must demonstrate that at least the breathing zone outdoor air, Vbz, required by §6.2.6.1.1 is provided for the actual, real-time, population during operation. CO2 -DCV is only mentioned in an exception of §6.2.6.1 that disallows CO2 -DCV in spaces where CO2 is either removed or introduced by non-human sources. It is not a required or even a specified method of the Standard. To understand, one must recognize the relationship between CO2 and [outdoor air] ventilation.
Figure 1 Steady State Analysis
The steady-state equation of Figure 1 can be algebraically rearranged to solve for Voz/P, or Vo, which in I-P units is outdoor air CFM/person. This relationship was described in Appendix D (now removed) of ASHRAE Standard 62.1 prior to 2019 and is the bases for today’s CO2 -DCV strategies, even though a DCV system is rarely at steady-state. Fixed setpoint CO2 -DCV (ex. 1,000 ppm) systems use CO2 as a surrogate to estimate the outdoor airflow rate entering a building. CO2 levels are not maintained because it is a contaminant of concern.
THE CO2 -DCV DILEMMA Engineers, building owners and code writers do not always recognize the codependent relationship between CO2 and ventilation. Many of today’s systems that mandate CO2 -DCV are undersized, do not perform at high population densities, and have higher than expected energy consumption. Why? Most jurisdictions follow the International Mechanical Code (IMC) to size ventilation systems. The IMC is a strict interpretation of the VRP of ASHRAE 62.1. ASHRAE 90.1-2019 requires DCV but does not mandate that CO2 based DCV is used. Other energy codes and other design guides, however, do require CO2 ventilation control – often at a defined setpoint near or at 1,000 ppm.
Figure 2 illustrates the problem using default occupancy densities from 62.1. The conference/meeting space was designed to provide the outdoor airflow rate required to satisfy the Standard. The control strategy was operated to maintain 1,000 ppm in the space. As a result, the system was designed to provide 6 CFM/person and forced to operate at 18 CFM/person or be in CO2 alarm. Clearly, the system would not provide temperature or humidity control at high population densities and in no way would it save energy. Unfortunately, this design approach is typical, since most do not recognize that CO2 levels and ventilation are codependent.
Figure 2 Ventilation/CO2 Codependency
Note: A sedentary adult in this example is based on a generation rate, G, of 0.0108 ft3 CO2 /min that is typical of a 180 lb. male, 21 to 30 years of age.
ASHRAE 62.1-2019 COMPLIANCE
Fixed setpoint CO2 -DCV is widely used and, at best, results in a single rate of outdoor air per person. An argument could be made prior to addendum n (adopted permanently in the ASHRAE 62.1-2004 parent document) when 62.1 specified the breathing zone outdoor airflow rate, Vbz, as a single ventilation rate per person (ex. Schools – 15 CFM/person ≈ 700 ppm rise ≈ 1,100 ppm setpoint), however, addendum n, modified the ventilation requirements so that Vbz is now based on occupancy and floor area so that the required ventilation rate per person is no longer a constant. As a result, fixed setpoint CO2 -DCV cannot meet the requirements of 62.1-2019 with varying populations if all assumptions regarding CO2 measurement accuracy and occupant production rates are accurate (see Figure 3). Nonetheless, it is still widely used, promoted and often mandated.
Figure 3 Ventilation Provided with 600 PPM Rise (Ci-Co)
Compared to ASHRAE 62.1 2019 Requirements (1000 ppm nominal setpoint assuming all assumptions* are valid CO2 measurement uncertainty: None.)
VENTILATION UNCERTAINTY: CO2 MEASUREMENT ERROR
The objective of Standard 62.1-2019 is to provide at least the required minimum outdoor air, Vbz, to the breathing zone. When DCV is used, the breathing zone outdoor air must be provided for the current population. A reasonable question would be as follows:
“How does CO2 measurement uncertainty affect the ventilation rate provide to the space?” CO2 -DCV system uncertainty was discussed in detail by Dougan and Damiano, (ASHRAE Journal, 1994 and HPAC, 1997). The papers analyzed CO2 measurement uncertainty and the effect of occupant activity level on CO2 -DCV ventilation rates prior to and after the addendum n modification.
CO2 sensor measurement uncertainty at 1,000 ppm is at best ±75 ppm. Additional uncertainty results from placement and drift of the CO2 sensor. Therefore, a reasonable indoor uncertainty (good case) is ±100 ppm. Outdoor CO2 levels vary as a result of season, time of day and climatic conditions (temperature inversions, for example). Outdoor CO2 levels have been measured as low as 350 ppm and as high as 600 ppm. CO2 is generally assumed to be 400 ppm. Therefore, an uncertainty of ±50 ppm is not unreasonable. One should note that CO2 levels of the outdoor air are generally assumed since the measurement of outdoor CO2 concentrations is not feasible with most commercial CO2 sensors that are significantly affected by changes in ambient temperature.
Figure 4 shows the ventilation uncertainty associated with an indoor CO2 uncertainty of ±100 ppm and an outdoor CO2 uncertainty of ±50 ppm. In this example, the corresponding ventilation uncertainty at the design population is nearly 50% greater than required for the maximum expected population
Figure 4 Ventilation Provided with 600 PPM Rise (Ci-Co) Compared to ASHRAE 62.1 2019 Requirments (1000 ppm nominal setpoint assuming all assumptions* are valid CO2 measurement uncertainty: 100 ppm indoor and 50 ppm out.)
VENTILATION UNCERTAINTY: OCCUPANT SEX, AGE AND WEIGHT
The previous examples were based on assumptions that the CO2 levels and the CO2 production rates of individuals were accurate (not to mention the assumption of steady-state). Unfortunately, the CO2 production rate of the occupants vary with age, weight, gender, activity level and even diet. These uncertainties have a dramatic effect on ventilation provided. Addendum ab, not approved and now in rewrite, provides valuable information regarding the CO2 production rate of individuals of varying age, sex, weight and activity.
The rightmost column of Table 1 shows the ventilation rate provided for males of average weight between 5 and 60 years old when a 600 ppm rise, or 1,000 ppm nominal indoor CO2 setpoint is maintained. Figure 5 shows the ventilation provided. The required ventilation to satisfy an adult classroom is shown for comparison. Young adults and children are under-ventilated when traditional fixed setpoint CO2 -DCV is implemented, yet this method is required by more and more school districts each year. Data for females (not shown) generally results in lower ventilation rates for a given CO2 setpoint.
Adjustments for the nominal age of the occupants can be compensated for and is part of the addendum ab normative appendix language that will hopefully be adopted.
Table 1 Ventilation Provided with 600 ppm Rise (Ci-Co) in Co2 (1000 ppm nominal setpoint assuming all assumptions* are valid co2 measurement uncertainty: none.)
Figure 5 Ventilation Provided with 600 PPM rise (Ci-Co) in CO2 for Various Male Groups (1000 PPM nominal setpoint assuming all assumptions* are valid co2 measurement uncertainty none.)
VENTILATION UNCERTAINTY: OCCUPANT ACTIVITY
The 600 PPM rise, or 1,000 ppm nominal setpoint used today is based on sedentary, or seated, adults with an occupant activity level equal to approximately 1.3 MET. However, CO2 -DCV is often applied to spaces with more active occupants, such as auditoriums, health clubs, dance studios, etc. In these higher activity spaces, the metabolic output of the individuals can exceed 5 MET. Metabolic output is directly proportional to the CO2 production rate, G, of individuals and G is directly proportional to the ventilation provided for a given rise in CO2 (refer back to Figure 1). Therefore, a given CO2 level may result in considerable uncertainty in ventilation unless adjustments are made to the setpoint based on the expected activity level of the individuals in the space. Figure 6 illustrates the massive uncertainty associated when traditional CO2 -DCV is indiscriminately applied to spaces with activity levels greater than those assumed for sedentary adults.
Figure 6 Ventilation Provided with 600 ppm Rise (Ci-Co) in CO2 at Various Active Levels (1000 ppm nominal setpoint assuming all assumptions* are valid. CO2 measurement uncertainty: ±100 PPM indoor and ±50 ppm outdoor.)
Figure 6 Ventilation Provided with 600 ppm Rise (Ci-Co) in CO2 at Various Active Levels (1000 ppm nominal setpoint assuming all assumptions* are valid. CO2 measurement uncertainty: ±100 PPM indoor and ±50 ppm outdoor.)
TRADITIONAL FIXED SETPOINT CO2 -DCV SUMMARY
Traditional fixed setpoint CO2 -DCV is widely used. Unfortunately, most that use it do not understand the ventilation uncertainty and risk associated with the technique. This author has been attempting to bring some of the issues with CO2 ventilation control to industry professionals for nearly 20 years. The fact is, CO2 -DCV is not going to disappear overnight and not all the use it will understand the ventilation issues and risk associated with it. Therefore, an improvement to the technique is the first and logical step for this type of ventilation control.
IMPROVING CO2 -DCV
Factors such as age, sex, weight and activity level (occupant attributes) must be considered when establishing the proper setpoint for fixed setpoint CO2 -DCV control. Addendum ab, once approved, will hopefully be “normative” and part of required calculations for CO2 -DCV control. However, several factors, including the assumption of steady-state and the measurement uncertainty of indoor and outdoor CO2 levels cannot be compensated for using the current, fixed setpoint, model. Assuming that the physical attributes of the occupant and activity level is considered, the uncertainty for fixed setpoint CO2 -DCV is shown in Figure 7. The scatter within the expected population is unavoidable. It is the control outside of the upper and lower limits that must be improved. The upper limit should be set to the ASHRAE 62.1-2019 calculation for Vot based on the maximum expected population. The lower limit should be set to either a.) the ventilation required at the minimum expected population or, b.) the outdoor airflow rate required for pressurization, whichever is greatest.
Figure 7 Ventilation Provided with 600 ppm Rise (Ci-Co) Compared to ASHRAE 62.1 2019 Requirments (1000 ppm nominal setpoint assuming all assumptions* are valid.
CO2 measurement uncertainty: ±100 PPM indoor and ±50 ppm outdoor.) Limiting the upper limit will result in the system going into CO2 alarm because the system will be limited from reaching the CO2 setpoint. This has already been addressed in California Title 24 that sates in §120.1(d)4C, “The outdoor air ventilation rate is not required to be larger than the design outdoor air ventilation rate required by Section 120.1(c)3 regardless of CO2 concentration.” Setting limits may sound easy, but in fact, is very difficult due to fan speed changes, variations in wind and stack pressure, and damper issues such as hysteresis, binding and deterioration.
Systems that rely on one or more fixed damper positions cannot maintain outdoor airflow rates due to changes in fan speed, wind pressure and stack pressure in the return air duct system. The problem is exacerbated on VAV and multi-speed fan systems. This was first demonstrated by in an article published Solberg et al., (ASHRAE Journal, January 1990). Fixed damper intake systems can vary 50% or more of the desired setpoint and that uncertainty does not include field measurement error that can also be significant due to the intake design of today’s air handling systems. The best way to set limits on a fixed setpoint CO2 -DCV system is to install an airflow measurement device directly in the outdoor air intake of recirculating air systems or at the ventilation zone level of DOAS systems. The control logic required to accomplish this is shown in Figure 8.
Figure 8 Modified Fix Setpoint CO2 DCV with Airflow Limits
Figure 9 Ventilation Provided with 600 ppm Rise (Ci-Co) Compared to ASHRAE 62.1 2019 Requirements (1000 ppm nominal setpoint assuming all assumptions* are valid. CO2 measurement uncertainty: ±100 ppm indoor and ±50 ppm outdoor.)
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