Title: Radon in Drinking Water Proposed Rule: Background and Status
1Radon in Drinking Water Proposed RuleBackground
and Status
- Presentation for the Workshop on Radon
Occurrence, Health Risks, and Policy - October 4, 2006
- Rebecca Allen
- U.S. Environmental Protection Agency
- Office of Ground Water and Drinking Water
2Background Radon Health Effects
- Radon (Rn-222) is a colorless and odorless
naturally occurring gas - Well-known human carcinogen since 1940s World
Health Organization, National Cancer Institute,
National Academy of Sciences and other national
and international organizations - Well studied and agreed upon science MCLG of
zero - Well-known linear non-threshold carcinogen
extensive epidemiological and biological evidence
of human lung cancer risks from residential radon
exposure - Indoor radon (from soil) is second
- leading cause of lung cancer
- From drinking water NAS (1999)
- estimates 168 fatal cancer cases each year
- From indoor air NAS-BEIR VI (1999)
- estimates 15,000 to 22,000 lung
- cancer deaths each year
3Regulating Radon in Drinking Water
- Important opportunity for public health
protection - NAS Report on Radon in Drinking Water (1999)
- Risks associated with waterborne radon are large
in comparison with other regulated contaminants
in drinking water - radon in drinking water causes 168 fatal cancers
per year in absence of regulation 89 from lung
cancer due to inhalation of radon released from
water, and 11 primarily from stomach cancer due
to ingestion
4What is unique about the radon proposed framework?
- Proposed Rule published in Federal Register
November 1999 - Statutory deadline for final rule August 2000
- Based on SDWA and multimedia radon exposure
- Two regulatory options
- MCL 300 pCi/L, based on SDWA MCL and
radon-specific language. MCL is within EPAs
traditional risk range of 10-4 to 10-6 - Alternative MCL 4000 pCi/Lwater, based on NAS
guidance and SDWA direction - AND
- Multimedia Mitigation (MMM) program highly
flexible, least-cost and cost-effective, not
prescriptive proposed 4 criteria viewed as
enhancement of existing state radon programs - Regulation applies to all CWSs using ground water
and mixed water
WITH
5Proposed Radon Framework for States CWSs
NO
YES
Potential for up to 5,000 to 7,000 Lives
Saved/Year
Maximum 62 Lives Saved/Year
6Multimedia Mitigation Program Requirements
- EPA approvable program plans (State or CWS)
provide information on - Public participation that occurred in development
of MMM plan - Quantitative goals set by State that achieve risk
reduction from - Mitigation of existing homes
- New homes built radon-resistant
- Program strategy in 2 key areas
- Testing/mitigation of existing homes (outreach
and real estate sales - Construction of radon-resistant homes
- Measure and report results 2-year reports (used
for 5-year EPA reviews) - State/CWS must demonstrate equal or greater
benefits
7How did EPA set the proposed MCL for Radon?
- MCLG of zero
- Analyzed relative risk to human health at various
levels (100 4,000 pCi/L) and associated
benefits - Adjusted from 100 pCi/L to 300 pCi/L using
radon-specific SDWA language - Proposed MCL is within Agencys risk range of
10-4 to 10-6 - Administrator determination that benefits
justify costs - Another key consideration was spread between
MCL and AMCL relatively low MCL increase
incentive for States and/or systems to adopt AMCL
and MMM option - An MCL of 4,000 pCi/L obviates need for MMM
program under SDWA
8Total National Benefits and Costs at Various
Radon Levels(Proposal Estimates)
Millions, 1997
9Goals for Radon Rule
- For States to choose AMCL/MMM option
- Historically, many States expressed interest in
MMM programs - For States to continue and enhance existing State
indoor air radon programs - To achieve higher rates of risk reduction
- Considerations underlying MMM program criteria
- Voluntary for States
- Criteria provide each State flexibility to tailor
specific needs - Not much risk reduction needed from MCL to
achieve equal or greater benefits (compared to
300 MCL) - Can choose to use non-regulatory and regulatory
approaches - Current indoor air programs reducing risk with
approaches outlined in SDWA - MMM builds on and enhances existing radon
programs (infrastructure, networks, new
opportunities)
10Key Issues and Stakeholder Concerns on the
Proposed Rule
- 775 commenters on proposed rule
- MCL and Rule Structure
- State and utility comments mixed, but generally
didnt support proposed MCL - Higher MCLs ranging from 500 to 4,000 pCi/L were
suggested - Inclusion of smokers in risk estimates
- State Resource Drain
- Resources needed to implement MMM option
- AMCL/MMM option complex and requires tight
coordination between air and water programs
within State - Tort Liability
- Concern over dual MCL
- Equity
- Appearance of unequal risk reduction to consumers
from AMCL and MMM
11What are some options that EPA can consider for
the final Radon Rule?
- Maintain option outlined in 1999 proposed rule
- Set MCL between 300 and 4,000 pCi/L with AMCL/MMM
alternative available - Set MCL 4,000 pCi/L AMCL with mandatory MMM
program - Would require statutory change
- Set MCL 4,000 AMCL with no MMM program
- Approximately 4 Lives Saved per year
- Other alternatives would require Legislative
changes
12EPAs Current Activities on Radon in Drinking
Water
- January 2009 current projected date for final
Radon in Drinking Water Rule - Interim activities and remaining work
- GAO 2002 analysis of EPAs cost estimates
- GAO recommendations include
- Inclusion of mixed water systems in cost analysis
- Update off-gas risk estimates and assess impact
on cost estimates - Expand range of assumptions for estimating
compliance costs with AMCL/MMM option - Majority of recommendations have been
incorporated remaining await MCL decision - Competing Drinking Water priorities Final GWR,
recently finalized Stage 2 and LT2 rules, CCL 3
process, Lead and Copper revisions
13Report to CongressRadon in Drinking Water
Regulations
- FY03 Appropriations Language, Congress directed
EPA to - Consult with State drinking water, air, and
radiation programs, and - Evaluate options to implement a single drinking
water standard for radon - EPA interprets single drinking water standard
as a single MCL for all systems (no MMM) - EPA consulted with ASDWA and CRCPD in 2003
- Anticipate Final report to be sent to Congress by
end of 2006
14Any Questions?
- Rebecca Allen
- Office of Ground Water and Drinking Water
- U.S. Environmental Protection Agency
- (202) 564-4689
- allen.rebeccak_at_epa.gov