Title: EPA
1EPAs Existing Chemicals Programs and
Initiatives Presented to the North and South
Carolina ChapterAmerican Industrial Hygiene
Association
- Charles Auer,
- Director, Chemical Control Division March 15,
2002
2Why is the HPV Challenge Needed?
- 43 of the U.S. HPV chemicals have no publicly
available studies for any of the 6 basic
endpoints - Only 7 of the U.S. HPV chemicals have a full set
of publicly available studies for the 6 basic
endpoints
3HPV Challenge ProgramGoals and Approach
- HPV Challenge goal is public availability of a
baseline set of health and environmental effects
data on approximately 2800 HPV chemicals goal
is not testing chemicals - Defined list of chemicals and battery of tests
Screening Information Data Set (SIDS) - Submit detailed summary information in a uniform
database format (robust summaries) - FR Notice issued December 26, 2000 (65 FR 81686)
4HPV Challenge ProgramDesign Features
- Voluntary program for companies to make basic
hazard data on their HPV chemicals publicly
available by 2005 - Strongly encourage greater international testing
efforts under OECD HPV/SIDS, ICCA - Public involvement at every step
- Incorporate animal welfare considerations and
encourage use of SAR/category approach
5SIDS Data Elements
- Chemical Identity
- Chemical Name
- CAS Registry Number
- Physical/Chemical Properties
- Melting Point
- Boiling Point
- Vapor Pressure
- Partition Coefficient
- Water Solubility
6SIDS Data Elements (cont.)
- Environmental Fate and Pathways
- Biodegradation
- Aerobic
- Abiotic Degradability
- Hydrolysis
- Photolysis
- Fate and Environmental Distribution Assessment
7SIDS Data Elements (cont.)
- Ecotoxicity
- Acute Toxicity
- Fish
- Daphnia
- Algae
- Chronic Toxicity (when indicated)
- Daphnia
8SIDS Data Elements (cont.)
- Mammalian Toxicity
- Acute Toxicity
- Oral preferred if not available (except for
gases) - Repeated Dose Toxicity
- Combined Repeat Dose and Reprotox Screen (OECD
422) OR - 28-day study (OECD 407)
9SIDS Data Elements (cont.)
- Mammalian Toxicity (Cont)
- Genotoxicity
- Gene mutation
- Chromosomal aberrations
- Reproductive/Developmental Toxicity
- Combined Reproductive and Developmental Toxicity
Screen (OECD 420) OR - Combined Repeat Dose and Reprotox Screen (OECD
422)
10SIDS Data Elements (cont.)
- Report Other Available Hazard/Exposure Data - the
OECD SIDS Dossier includes reporting for - Irritation
- Sensitization
- Carcinogenicity
- Other physical/chemical properties
- Human Experience
- Exposure/Use Information
- Etc.
11HPV Challenge Program Success
- 423 companies and 131 consortia have pledged to
voluntarily provide data on over 2100 chemicals
by 2005!
12HPV Challenge Program
- Companies now submitting test plans and robust
summaries of existing data - Data are publicly accessible through posting on
Internet - www.epa.gov/chemrtk
13HPV Challenge Program
- Companies exploring voluntary submission of
exposure data to provide context for hazard data. - Companies should delay start of new testing for
120 days after posting of test plan to allow
public comment.
14Test Plan Performance
- 121 Test Plans covering 776 chemicals have been
received by EPA. Test Plans cover 65 chemical
categories and 56 single chemicals - 116 Test Plans have been posted on EPAs web site
for public comment - Test Plans are generally being sent to EPA on the
schedule committed to by the sponsors. - Test rule to ensure equity ( 65 FR 81658)
15Why the HPV Challenge Program is Important to
Your Work?
- By 2005
- ? basic information available to industry,
government and the public on all HPVchemicals. - ? fully searchable database.
- ? as data are assessed, priority chemicals are
identified for additional testing, assessment, or
management.
16Why is the Voluntary Childrens Chemical
Evaluation Program (VCCEP) Needed?
- ... review and report on what new testing may be
needed to address the special impact industrial
chemicals may have on children.
17- VCCEP developed via a public stakeholder process.
- VCCEP is not a testing program hazards,
exposures, and risks of chemicals to children are
evaluated and if necessary information gaps are
to be filled. - FR Notice announcing the Voluntary Childrens
Chemical Evaluation Program issued December 26,
2000 (65 FR 81699). - The Pilot attempts to define a workable common
ground that meets the needs of diverse
stakeholders.
18Key Features of the VCCEP
- Goal is publicly available data.
- Strong chemical selection criteria
biomonitoring data. - Tiered testing scheme.
- Implementation process builds on and models the
HPV Challenge when ever possible. - Commitments made tier by tier in the Pilot.
19Key Features of the VCCEP (cont.)
- Role for exposure information gathering and
assessment. - Additional data development decisions (such as
testing) based on whether chemical is
adequately characterized given the available
data. - Peer Consultation promotes joint stewardship of
the program and a strong science foundation.
2023 Pilot Chemicals
- Acetone Toluene
- Benzene Chlorobenzene
- Vinylidene chloride n-Dodecane
- Methyl ethyl ketone p-Dioxane
- Trichloroethylene Decane
- alpha-Pinene Tetrachloroethylene
- o-Xylene m-Dichlorobenzene
- Ethylbenzene Undecane
- p-Dichlorobenzene Decabromodiphenylether
- Ethylene dibromide Pentabromodiphenyl
ether - Ethylene dichloride Octabromodiphenyl ether
- m-Xylene
- unsponsored
211st Tier Toxicity Studies(HPV Challenge
Health-related Studies)
- Acute toxicity
- Repeated dose toxicity with reproductive and
developmental toxicity screens - Bacterial reverse mutation assay
- In vitro or in vivo chromosomal aberrations
222nd Tier Toxicity Studies
- Sub chronic (90 day) toxicity
- Prenatal developmental toxicity
- Reproductive and fertility effects
- Metabolism and pharmacokinetics
- Immunotoxicity
- In vivo chromosomal aberrations or in vivo
micronucleus test
233rd Tier Toxicity Studies
- Carcinogenicity
- Neurotoxicity screening battery
- Developmental neurotoxicity
24Exposure Assessments
- Biomonitoring data used for chemical selection
contribute to an overall assessment. - Depth of exposure information increases with each
tier - Tier 1 screening level data
- Tiers 2 and 3 advanced assessments using
exposure studies, monitoring data, and modeling - Transparency
- Exposure assessments need to address standard
issues - Populations
- Routes of exposure
- Extent, duration and frequency of exposures
25Peer Consultation
- Forum for scientists and experts from stakeholder
groups to exchange scientific views on sponsors
assessments. - Hoping for participation by State experts.
- Not a consensus based approach.
- Managed by an independent third party that
summarizes the consultations results and
forwards them to EPA. - Balanced science-based participation.
- First Peer Consultation for Tier 1 assessments
anticipated mid-2002
26Participation
- Tremendous support from chemical manufacturers
- 20 of 23 chemicals sponsored
- Over 35 sponsor companies
- 11 consortia (some sponsor multiple chemicals)
27Why is VCCEP Important to Your Work?
- Complements HPV Challenge with detailed testing
and assessment. - Ability to develop key exposure data.
- Peer consultation may provide effective new way
of working.
28Information Access
- For more information about HPV and VCCEP and its
pilot (including past Federal Register Notices,
HPV Test Plan Review information, VCCEP Peer
Consultation information, guidance materials and
other technical materials) see - www.epa.gov/chemrtk
29PerFluoroOctyl Sulfonates (PFOS) and Related
Chemicals
- PerFluoroOctyl Sulfonates acids, salts,
halides,etc. - Over 300 chemicals, including polymers.
- Man-made do not occur in nature.
- Produced since 1950s for use in surface
treatment, paper protection, and performance
chemical (surfactant and insecticide) products.
30PFOS Concerns
- Persistent
- Very stable chemical that does not break down or
degrade in the environment once its there, it
stays - Bioaccumulative
- PFOS can build up over time its half-life in
human blood may be from 1 to 4 years - Organisms higher-up in the food chain are exposed
to the full dose of what has built up in their
food
31PFOS Concerns
- Toxic
- - In repeat dose systemic and reproductive
toxicity studies, serious effects seen - Post-natal deaths in rats at 3.2 and 1.6
mg/kg/day - In repeat-dose treated Rhesus monkeys, death
within 3 weeks at 10 mg/kg/day within 7 weeks at
4.5 mg/kg/day. Adverse effects in cynomolgus
monkeys at 0.75 mg/kg/day
32PFOS Concerns
- Exposure
- Detected in blood not only in workers handling
the chemical, but in the general US population
and in wildlife worldwide - High as 12.83 ppm in manufacturing workers
- In pooled serum from general population, 30-40
ppb small sample of children, mean 54 ppb - In birds, wild mammals, and fish, in ppb range
33PFOS Withdrawal Strategy
- 3M Corporation conducted studies, shared results
with EPA, and discussed concerns. - In May, 3M publicly announced voluntary phase-out
of perfluorooctanyl chemistries, most by end of
2000, others by end of 2002. - 3M continues aggressive research program.
- EPA followed up voluntary action with regulation.
34PFOS Withdrawal Strategy
- EPA proposed and took public comment on a
Significant New Use Rule (SNUR) to manage 90
PFOS chemicals discontinued by 3M - Public meeting on March 27, 2001, raised
clarification questions, more information
provided from several industry sectors through
October 2001 - Follow-up actions published in the Federal
Register Monday, March 11, 2002 -
-
35Follow Up Actions
- ? Final SNUR 67 FR 11008
- concerns 13 known discontinued PFOS chemicals
making any new manufacture or importation a
significant new use and - Supplemental Proposed Rule 67 FR 11014
- includes 75 additional chemicals,
- proposing to exclude from the definition of
significant new use specifically defined, low
volume, controlled exposure uses in - semiconductor manufacture
- aviation hydraulics
- photography
-
36Related Chemistry Concerns
- ? PFOA and related substitutes, such as
fluorinated telomers, may present similar
concerns - Known persistence.
- Evidence of toxicity data in public literature.
- PFOA also found in human blood, although at lower
levels than PFOS - EPA working with industry to answer key questions
and - develop comprehensive database
- PFOA similar bioaccumulative potential? fate
and transport? - similar widespread exposure? Toxicity?
- Telomers fate and transport? similar widespread
exposure? Toxicity? what degradates are formed
from the telomers? What is the degradates
bioaccumulation potential?
37Ongoing EPA Actions
- PFOS
- Complete action on proposed SNUR for 88 3M
phaseout PFOS chemicals. - Consider need/options for action on other
200-plus PFOS chemicals. - PFOA
- Preliminary hazard assessment released March 2002
- Assess new data as received.
- Identify needs/options for action.
38Ongoing EPA Actions
- Telomers
- Begin EPA review of existing data.
- Review submissions from voluntary industry
testing program in 2001-2002. - Address existing, as yet unsubstantiated market
claims that telomerization products are safer
than fluorochemicals produced through other
processes.
39State, Tribal, and Local Challenges- Why PFOS
Issue is Important to You?
- Hazard assessment outcomes on fluorochemicals may
influence future discharge and permitting
decisions at manufacturing plants and facilities. - Changes in fire fighting foam formulations over
the next 10 years may affect municipal, tribal,
and volunteer fire departments using synthetic
foams (different foam types require different
equipment). - Alternatives will be developed to meet the many
other uses of PFOS What is their safety and
effectiveness?
40For Further Information on PFAS
- Staff Technical Contact
- Mary F. Dominiak, 202-564-8104,
dominiak.mary_at_epa.gov - For data CDs from PFOS/PFOA/telomer file
(AR-226), or for copies of comments on SNUR
(OPPTS-50639) TSCA NCIC, 202-260-7099,
Monday-Friday, noon to 1600 Eastern time
oppt.ncic_at_epa.gov