Monthly Archives: May 2009

Save OEHHA!

Richard Denison, Ph.D., is a Senior Scientist.

[Note:  This post was originally posted as a comment on Gina Solomon’s blog post on Huffington Post.  The context is a pending budget proposal from the Governor’s office in California to eliminate the State’s Office of Environmental Health Hazard Assessment (OEHHA) under CalEPA and disperse some but not all of its functions to other agencies.  This proposal, if implemented, would in my view be truly tragic.  If you agree, make your voice heard!]  Read More »

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Greening ChAMP

Cal Baier-Anderson, PhD, is a Health Scientist.

In our critique of EPA’s Chemical Assessment and Management Program (ChAMP), we have pointed out that, despite its limitations, there is value in the hazard data that EPA is collecting and analyzing.  How so? Read More »

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(How) Can ChAMP get back on track?

Richard Denison, Ph.D., is a Senior Scientist.

As I noted in our first post on ChAMP, after getting off to a strong start in 2007, EPA’s abrupt decision in 2008 to steer ChAMP in the direction of cranking out hasty risk decisions was entirely its own.  Can ChAMP be put back on track?  Read More »

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Questionable Risk Decisions under ChAMP: The Fatty Nitrogen Derived Cationics Category

Cal Baier-Anderson, Ph.D., is a Health Scientist and Richard Denison, Ph.D., is a Senior Scientist.

This example raises some new issues as well as some we discussed in the earlier examples:  EPA relies on a highly flawed “category approach” that ignores major differences in the properties and structures of the 13 members of this category.  It compounds this problem by unquestioningly accepting data from inadequate studies to assert low toxicity, rather than demanding that sufficient studies be provided.  As a result, it fails to identify, let alone require to be filled, the enormous gaps in the data available for many of the category members.  EPA ignores or dismisses without explanation its own earlier comments raising serious concerns about the quality and completeness of data provided by the sponsor of these chemicals under the HPV Challenge.  Finally, this example once again shows how EPA’s heavy reliance on self-reported use information from manufacturers paints an incomplete and potentially very misleading picture of the actual uses of industrial chemicals.  Read More »

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