Monthly Archives: November 2016

Making federally-assisted housing lead-safe for children

Tom Neltner, J.D.is Chemicals Policy Director

Housing supported by the Federal Government should not be poisoning children.

That was the simple message Congress delivered to the Department of Housing and Urban Development (HUD) in the Residential Lead-Based Paint Hazard Reduction Act of 1992. Despite some real progress since then, recent cases of lead poisoning in federally-assisted housing in Chicago and Indiana suggest there is still much work to be done.

Thanks to a strong public push to highlight these failings, HUD recently proposed changes to its “Lead Safe Housing Rule.” At the heart of these changes is lowering the level of lead in children’s blood considered “elevated,” the trigger for local housing authorities to conduct detailed inspections of a child’s home for lead. HUD has continued to use a level of 20 µg/dL set in 1999, despite a consensus that lead is harmful to children at much lower levels. HUD is on track to finalize the rule in January 2017 after sending it to the Office of Management and Budget on November 21 for final reviewJan. 13, 2017 update: HUD issued a final rule that was similar to what was proposed.

Read More »

Posted in Health policy, Lead, Regulation / Tagged , , , , , , | Comments are closed

Off and running: EPA identifies first 10 chemical for review under new TSCA

Richard Denison, Ph.D., is a Lead Senior Scientist.  Lindsay McCormick and Jennifer McPartland contributed to this post.

Today, in advance of the December 19, 2016 deadline specified under the new TSCA, EPA has announced the first 10 chemicals to undergo risk evaluations (see list below).

This is a very important early step called for under the Lautenberg Act, which passed Congress with overwhelming bipartisan support.  Early action by EPA was seen by stakeholders across the spectrum as essential to begin the process of restoring public and market confidence in our nation’s chemical safety system.  So EPA’s issuance of this list in advance of the statutory deadline next month is a welcome sign of timely implementation of the new law.

While not every chemical that everyone may have wanted is included among the first 10, that is because there are many more than 10 chemicals that need far greater scrutiny as to their safety.  Indeed, the longer “Work Plan Chemicals” list from which EPA drew the first 10 consists of nearly 100 chemicals that present significant potential risk.

What is most important is that EPA gets started, so that it can complete risk evaluations of the first 10 and move on to the next.  EPA now has 6 months to establish the scope of its risk evaluations for these chemicals, identifying the uses, hazards, exposure and vulnerable populations it will evaluate.   Read More »

Posted in Health policy, TSCA reform / Tagged , | Comments are closed

Early disconnect between industry rhetoric and actions under the new TSCA?

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

It was more than a bit heartening that, even post-election, chemical industry representatives have been publicly urging that the Environmental Protection Agency’s (EPA) implementation of the new Toxic Substances Control Act (TSCA) should continue apace.

So it pains me greatly to be reading that some in industry are aggressively pressing the Office of Management and Budget (OMB) to block at least one of EPA’s proposals to restrict certain very high-risk uses of trichloroethylene (TCE), which focuses on TCE’s use in commercial vapor degreasing operations.  As reported late last week by Inside EPA (subscription required), industry representatives have asked OMB not to even allow EPA to issue its proposal for public comment, despite the fact that the industry and the rest of the public have yet to see it.

These are the first risk reduction actions EPA is proposing to take under the Lautenberg Act, which passed earlier this year with strong bipartisan support.  Industry supported the new law, saying it accepted the need to give EPA stronger authority to identify and restrict dangerous uses of chemicals in order to help restore public confidence in the nation’s chemical safety system.  So why are some now seeking to block the very first actions taken under the new law?  This type of behavior— fighting even limited steps by EPA to address even the riskiest of chemicals—is what brought about this crisis in confidence in the first place.   Read More »

Posted in Health policy, TSCA reform / Tagged , , | Comments are closed

A Different Vote–One That Could Have an Impact on Lead Exposure

There’s a vote coming this month you should know about and it doesn’t involve Donald Trump or Hillary Clinton. This month, the International Code Council (ICC) will consider a simple proposal to reduce lead exposures. This admittedly less monumental vote could nonetheless have a significant impact on public health and deserves our attention.

The proposal before the ICC would change the model building and residential codes to require that contractors present proof of lead-safe certification when they apply to do work on pre-1978 homes. Lead paint was banned in 1978, meaning homes built before that time are significantly more likely to contain lead paint. The certification itself is nothing new, it is already required at a federal level. Yet, most localities do not require any proof of certification when issuing permits to renovate these homes.  Update: ICC’s code officials rejected the proposal. As of Jan. 11, 2017, vote tally is not yet available.

Read More »

Posted in Lead / Tagged , , , , | Comments are closed