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U.S. EPA, and Briggs & Stratton Corporation Emissions Control Warranty Statement for Emergency Standby Engines

Your Warranty Rights And Obligations February 2013

General Information

The U.S. EPA, and Briggs & Stratton (B&S) are pleased to explain the
emissions control system warranty on your Model Year 2013 - 2014
engine / equipment. In the U.S., new Emergency Standby Engines
must be designed, built, and equipped to meet stringent emission
standards. Engines less than 25 Hp must meet requirements of 40
CFR Part 1054. Engines greater than 25 Hp and less than 130 Hp
must meet requirements of 40 CFR Part 1048. B&S must warrant the
emissions control system on your engine / equipment.
See Denition of appropriate use of Emergency Standby below.
The emission-related warranty covers all components whose failure
would increase an engine’s non-evaporative emissions of any
regulated pollutant referenced below.

Manufacturer’s Warranty Coverage:

Briggs & Stratton warrants that the engine is free from defects in
material and workmanship, and is also designed, built, and equipped
to conform to applicable regulations under Section 213 of the Clean
Air Act, from the time the engine is sold, until the expiration of its
warranty period.
This warranty applies to all emission related engine components
whose failure would cause engine exhaust emissions to be out of
EPA compliance. Further, this warranty also applies to other engine
components damaged due to the failure of any of these emissions
related components.
If a warrantable emissions related component on your engine is
defective, the part will be repaired or replaced by B&S at no cost to
you including diagnosis, parts, and labor.
Warranty coverage period is ve years from date of original purchase,
and is oered to the original purchaser and each subsequent
purchaser so long as Owner’s Warranty Responsibilities are adhered
to.

Owner’s Warranty Responsibilities:

Warranty claims shall be led according to the provisions of the
Briggs & Stratton Warranty Policy.
An engine may not be warrantable if subjected to abuse, misuse,
neglect, improper maintenance, unapproved modications,
accidents not caused by Briggs & Stratton engines or equipment,
or by acts of God.
Only those engines used as an Emergency Stationary Engine, as
dened below, are warrantable.
You are responsible for presenting your engine / equipment to
a B&S distribution center, servicing dealer, or other equivalent
entity, as applicable, as soon as a problem exists. The warranty
repairs should be completed in a reasonable amount of time,
not to exceed 30 days. If you have any questions regarding your
warranty rights and responsibilities, you should contact B&S at
1-800-233-3723 or BRIGGSandSTRATTON.COM.
If any components not scheduled for maintenance is repaired
or replaced under this warranty, the new part will be warranted
only for the remaining warranty period.
If a warrantable component scheduled for maintenance fails
prior to its rst scheduled replacement, the part will be repaired
or replaced by B&S at no charge to the owner. Any such
component is only warrantable until the originally scheduled
maintenance period has expired.
Add on or modied parts that are not exempted by the EPA may
not be used. The use of any non-exempted add on or modied
parts by the owner will be grounds for disallowing a warranty
claim. The manufacturer will not be liable to warrant failures or
warranted parts caused by the use of a non-exempted add on or
modied part.

Emergency Stationary Engine Denition

An Emergency Stationary Engine is dened as any stationary internal combustion engine whose operation is limited to emergency situations and
required testing and maintenance. Examples include stationary engines used to produce power for critical networks or equipment (including
power supplied to portions of a facility) when electric power from the local utility (or the normal power source, if the facility runs on its own power
production) is interrupted, or stationary engines used to pump water in the case of re or ood, etc. Stationary engines used for peak shaving
are not considered emergency stationary engines. Stationary engines used to supply power to an electric grid or that supply power as part of
a nancial arrangement with another entity are not considered to be emergency engines. Emergency stationary ICE may be operated for the
purpose of maintenance checks and readiness testing, provided that the tests are recommended by Federal, State or local government, the
manufacturer, the vendor, or the insurance company associated with the engine. Maintenance checks and readiness testing of such units is
limited to 100 hours per year. There is no time limit on the use of emergency stationary engines in emergency situations. The owner or operator
may petition the Administrator for approval of additional hours to be used for maintenance checks and readiness testing, but a petition is
not required if the owner or operator maintains records indicating that Federal, State, or local standards require maintenance and testing of
emergency ICE beyond 100 hours per year. Emergency stationary ICE may operate up to 50 hours per year in non-emergency situations, but
those 50 hours are counted towards the 100 hours per year provided for maintenance and testing. The 50 hours per year for non-emergency
situations cannot be used for peak shaving or to generate income for a facility to supply power to an electric grid or otherwise supply power
as part of a nancial arrangement with another entity. For owners and operators of emergency engines, any operation other than emergency
operation, maintenance and testing, and operation in non-emergency situations for 50 hours per year, as permitted above is prohibited.

Form NO. 80005429 Rev. A

MANUFACTURER OF RECORD

CHONGQING PANDA MACHINERY is the Manufacturer of Record for all Environmental Protection Agency (EPA) compliance issues related to the
use and performance of the engine.