{"id":10987,"date":"2022-05-17T13:31:55","date_gmt":"2022-05-17T18:31:55","guid":{"rendered":"https:\/\/blogs.edf.org\/health\/?p=10987"},"modified":"2022-05-17T13:47:34","modified_gmt":"2022-05-17T18:47:34","slug":"the-many-ways-acc-wants-to-turn-back-time-on-tsca-implementation-part-2","status":"publish","type":"post","link":"https:\/\/blogs.edf.org\/health\/2022\/05\/17\/the-many-ways-acc-wants-to-turn-back-time-on-tsca-implementation-part-2\/","title":{"rendered":"The many ways the American Chemistry Council wants to turn back time on TSCA implementation &#8211; Part 2"},"content":{"rendered":"<p><em>Part 2 of a 2-part series<span data-ccp-charstyle=\"Strong\">: Unrestricted approvals of new chemicals, with low fees<\/span><\/em><span data-ccp-props=\"{&quot;134233117&quot;:true,&quot;134233118&quot;:true,&quot;201341983&quot;:0,&quot;335559739&quot;:160,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><em><a href=\"https:\/\/www.edf.org\/people\/maria-doa\">Maria Doa<\/a>, Ph.D., Senior Director, Chemicals Policy<\/em><\/p>\n<p>In its recently issued \u2018State of TSCA\u2019 report, the American Chemistry Council (ACC) tries to turn back the clock on <span data-ccp-charstyle=\"Strong\">how EPA assesses and mitigates the risks of toxic chemicals<\/span><span data-ccp-charstyle=\"Strong\"> under the Toxic Substances Control Act (TSCA)<\/span><span data-ccp-charstyle=\"Strong\"> a<\/span><span data-ccp-charstyle=\"Strong\">nd in the process leave workers, f<\/span><span data-ccp-charstyle=\"Strong\">ront<\/span><span data-ccp-charstyle=\"Strong\">line communities and other vulnerable individuals at risk.<\/span> <span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">In my <a href=\"https:\/\/blogs.edf.org\/health\/2022\/05\/17\/the-many-ways-acc-wants-to-turn-back-time-on-tsca-implementation-part-1\/\">previous blog<\/a>, I looked at how ACC\u2019s proposals would restrict the EPA\u2019s ability to assess chemical risks and the science behind it. In this second and final part of our blog series looking at the chemical industry trade group\u2019s report, I discuss ACC\u2019s plan to <a href=\"https:\/\/blogs.edf.org\/health\/2018\/08\/01\/epa-rams-through-its-reckless-review-scheme-for-new-chemicals-under-tsca-your-health-be-damned\/\">dictate<\/a> how EPA should assess the safety of new chemicals industry hopes to bring to the marketplace, as well as its effort to let industry avoid paying its fair share of the cost for EPA to evaluate chemical risks.<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><!--more--><\/p>\n<p><span data-contrast=\"auto\"><strong>Pushing through unrestricted approvals of new chemicals\u00a0<\/strong><\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">In its \u2018State of TSCA\u2019 report, ACC calls for an approach that would effectively have EPA make safety determinations for new chemicals in name only. ACC calls any effort by EPA to identify and mitigate unreasonable risks as \u201c<a href=\"https:\/\/blogs.edf.org\/health\/2018\/09\/19\/the-tsca-new-chemicals-mess-a-problem-of-the-chemical-industrys-own-making\/\">stalling<\/a>\u201d new chemical reviews. The fact of the matter is that it is EPA\u2019s job under the law to conduct new chemical safety assessments and to make science-based decisions. It is not the agency\u2019s job to rubber stamp new chemicals as de facto safe.<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">TSCA directs EPA to determine whether a new chemical can safely enter commerce. Specifically, EPA must determine whether a new chemical will present an unreasonable risk of injury to health or the environment. EPA\u2019s determination can range from a finding that the new chemical is not likely to present an unreasonable risk to a determination that it may present an unreasonable risk. The second determination typically results in restrictions to uses of the chemical to mitigate the risks.<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">Of course, the industry would always prefer the first determination &#8211; no unreasonable risk. And where there is a finding of unreasonable risk, companies often seek to ensure they dictate the terms of any restrictions as much as possible.<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">A very large part of what ACC characterizes as \u201cstalling\u201d is actually the significant amount of time and effort EPA spends during the review process working with a company to try to mitigate identified risks. Often this process includes multiple rounds of back and forth between EPA and the industry.\u00a0 EPA may suggest process changes to reduce risk or ask for more specific information to show that identified risks can be mitigated.\u00a0\u00a0<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">This process takes time, including significant time for a submitting company to consider EPA\u2019s suggestions and provide additional information to support its claims that a chemical can be safely used. And let\u2019s not forget the amount of time spent by industry when it pushes back on EPA\u2019s scientific assessments and recommendations on how to mitigate unreasonable risks. Often, this time-consuming back and forth results because industry failed to provide sufficient information at the start of the process.<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">This extensive interaction &#8211; one in which industry consumes the lion\u2019s share of EPA\u2019s time and attention &#8211; often occurs with toxic chemicals that are important to key technologies, such as semi-conductors and electric vehicles. Some of these chemicals are quite toxic and EPA scientists and engineers often work with industry to identify process changes and engineering controls to mitigate risks so that these chemicals can be safely used and commercialized.<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">There is an easy solution to cut down the time spent on new chemical reviews. If EPA were to simply make a determination based on the information provided in industry\u2019s initial new chemical submission &#8211; rather than committing so much time and so many resources to help manufacturers get their submission approved &#8211; the agency could consistently complete its reviews within 90 days.<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">But despite all its access and multiple opportunities to provide additional information to supplement its chemical submissions or contest the assessments of EPA scientists, the chemical industry group says it is not enough. ACC says EPA must further enhance its communication with manufacturers. Ironically, for the reasons described above, this could prolong the time it takes EPA to review new chemicals.<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">The significant focus currently given to manufacturers also limits EPA\u2019s ability to consider the impacts these new toxic chemicals may have on frontline communities and other vulnerable populations. The disproportionate attention on industry minimizes EPA\u2019s ability to robustly consider the reasonably foreseen uses and downstream impacts of toxic chemicals.\u00a0\u00a0<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">We all want to support innovation, but not at the cost of our health and environment. We have seen this with per- and polyfluoroalkyl substances, the \u201cforever chemicals\u201d known as PFAS. While some new chemical PFAS were innovative, many other new PFAS that were allowed to be commercialized were not. Now nearly all of us are exposed to these \u201cforever chemicals\u201d because they are present in our environment and are so difficult to clean up. It is not a fair trade, particularly for communities that bear the brunt of the impacts from these harmful chemicals. \u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">Manufactures should have a seat at the table, but they should not crowd out the rest of us. TSCA directed EPA to determine whether a chemical causes an unreasonable risk and consider potentially exposed or susceptible subpopulations. EPA must consider the impacts to all stakeholders \u2013 and not primarily manufacturers \u2013 when it considers whether new chemicals should be allowed onto the market.<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">If ACC really wants quicker reviews of new chemicals, it should work with its members to develop more robust submissions that provide EPA with the information it needs to make a well-informed decision quickly.\u00a0<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\"><strong>Not paying their fair share<\/strong><\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">Despite expecting EPA to do much of the work industry should do, ACC also takes issue with the agency resetting the fees industry is required to pay under TSCA to help offset the cost of implementing the chemical safety law. By law, EPA must adjust these industry fees every three years to both account for inflation and ensure it is recouping the authorized portion of agency costs to implement TSCA.<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">Rather than see EPA adjust the fees upward after the fees rule under Trump <a href=\"https:\/\/blogs.edf.org\/health\/2021\/04\/07\/at-all-costs-failings-of-trump-epas-proposed-tsca-fee-rule\/\">failed<\/a> to recover sufficient funds, ACC would like Congress to pay for this work. In essence, ACC wants Congress to ask taxpayers, not companies, to pay a greater share. So while ACC wants industry\u2019s interests to crowd us out during EPA\u2019s chemical assessments and decision-making, the trade group expects us as taxpayers to make up their share of the costs.<\/span><span data-ccp-props=\"{&quot;201341983&quot;:0,&quot;335559739&quot;:0,&quot;335559740&quot;:240}\">\u00a0<\/span><\/p>\n<p><span data-contrast=\"auto\">If the ACC is serious about innovative solutions and making progress, it needs to fundamentally change its approach. It can start by paying for its share and providing significant and robust information on new chemicals that will allow the agency to do its job effectively and efficiently.<\/span><\/p>\n","protected":false},"excerpt":{"rendered":"<p>Part 2 of a 2-part series: Unrestricted approvals of new chemicals, with low fees\u00a0 Maria Doa, Ph.D., Senior Director, Chemicals Policy In its recently issued \u2018State of TSCA\u2019 report, the American Chemistry Council (ACC) tries to turn back the clock on how EPA assesses and mitigates the risks of toxic chemicals under the Toxic Substances &#8230;<\/p>\n","protected":false},"author":151199,"featured_media":10989,"comment_status":"open","ping_status":"closed","sticky":false,"template":"","format":"standard","meta":{"_acf_changed":false,"footnotes":""},"categories":[44,56093,39263,114108],"tags":[39150,68,56108,82],"coauthors":[],"class_list":["post-10987","post","type-post","status-publish","format-standard","has-post-thumbnail","hentry","category-policy","category-industry-influence","category-public-health","category-tsca","tag-american-chemistry-council","tag-epa","tag-new-chemicals","tag-tsca"],"acf":[],"aioseo_notices":[],"_links":{"self":[{"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/posts\/10987","targetHints":{"allow":["GET"]}}],"collection":[{"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/users\/151199"}],"replies":[{"embeddable":true,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/comments?post=10987"}],"version-history":[{"count":0,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/posts\/10987\/revisions"}],"wp:featuredmedia":[{"embeddable":true,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/media\/10989"}],"wp:attachment":[{"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/media?parent=10987"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/categories?post=10987"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/tags?post=10987"},{"taxonomy":"author","embeddable":true,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/coauthors?post=10987"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}