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March
15, 2000
Dr. Yi Wang
Pesticide and Environmental Toxicology Section
Office of Environmental Health Hazard Assessment
California Environmental Protection Agency
1515 Clay Street, 16th Floor
Oakland, CA 94612
Dear Dr. Wang:
Comments
on the Proposed Public Health Goals for Aluminum,
Uranium and Tetrachloroethylene (PCE)
The Association
of California Water Agencies (ACWA) appreciates the opportunity
to submit comments on the Proposed Public Health Goals for 12 Chemicals
in Drinking Water. ACWA includes nearly 450 public water suppliers
in California. Our members serve more than 90 percent of the delivered
water in California for domestic, agricultural and industrial uses.
ACWA would once
again like to commend the Office of Environmental Health Hazard
Assessment (OEHHA) for its outreach efforts during the development
of the Public Health Goals (PHGs). The public workshop and personal
meetings helped bring considerable insight to our review of the
PHGs.
ACWA is, however,
concerned that the University of California peer review documents
were not available for public review until only a few days before
the public comment deadline. Usually, a document or regulation subject
to public comment undergoes peer review prior to publication for
comment. We realize that OEHHA is not required to have the PHGs
peer reviewed and we appreciate OEHHA's efforts to accomplish this.
However, the current process of simultaneous peer review and public
comment does not allow the public the benefit of reviewing these
independent, thrid party documents. It is requested that future
PHGs undergo peer review and revision prior to the public comment
period and the peer review documents should be part of the docket
for public review.
While all of
the PHGs proposed are important to drinking water providers, we
do not have the time or the resources to complete detailed technical
reviews of all 12 documents. Thus, we have focussed our efforts
on the three constituents that are of major significance to drinking
water suppliers and two of which, in our judgement, aluminum and
uranium, need major revisions. Attached are technical reviews and
detailed comments on aluminum, uranium and tetrachloroethylene (PCE).
While the key
points of our comments are highlighted below, it is requested that
OEHHA review and give full consideration to our attached detailed
comments.
Aluminum
- The considerable
public health benefits of using aluminum compounds for drinking
water treatment to prevent waterborne diseases should be given
weight in OEHHA's assessment, just as consideration is given to
essentiality of other chemicals as dietary nutrients.
- The primary
study used by OEHHA to develop the PHG uses unrealistically high
aluminum dosages, outdated lab techniques to arrive at erroneously
high serum aluminum levels, and, as pointed out by a UC peer review,
does not measure any pharmacologic or toxicologic adverse effect
but simply an increase of a foreign substance.
- The available
science on aluminum is not sufficient nor adequate for the purpose
of setting a health-based limit.
- OEHHA should
use the flexibility provided by the Legislature in Health and
Safety Code Section 116365(c)(6) for dealing with "insufficient
currently available scientific data" and set the PHG at 1
mg/l. This is consistent with the previous State finding that
1 mg/l is safe and protective of public health with an adequate
margin of safety for sensitive subpopulation groups.
- A recent
paper by Martyn et. al. (1997) discounts any associated link between
Alzheimer's and aluminum, which refutes their own earlier study.
Uranium
- It is inappropriate
for OEHHA to use the 1998 Health Canada study in the uranium PHG
calculation because:
- a) the relative
uranium exposures from all sources is not known,
b) the exposed population is small, unique and is not characteristic
of California,
c) the study contained no zero-exposed control group,
d) the changes noted are not scientifically linked to actual adverse
effects, and
e) the effects of measurement error were not considered.
- The PHG for
uranium should be developed in conjunction with the other radionuclides
regulated in drinking water due to the unique and related nature
of these contaminants.
- The PHG for
uranium should be delayed until the USEPA completes its risk assessment
for uranium and other radionuclides. USEPA is set to release a
Notice of Data Availability this spring for many radionuclides,
including uranium, that may prove beneficial to OEHHA in finalizing
this PHG.
- If OEHHA
proceeds to establish the PHG for uranium at this time, it should
base the calculation of the PHG on the Gilman et al (1998) study.
However, OEHHA should follow the international consensus conclusions
from the 1998 USEPA workshop on uranium, in which OEHHA participated,
regarding use of this study for calculating a public health goal.
Tetrachloroethylene
(PCE)
- OEHHA should
include two recently released, relevant studies, mentioned by
name in the attached technical review, in the PHG document.
On a final note,
we spport OEHHA's efforts to develop "quantitative" numbers
for the PHGs, rather than defaulting to zero as U.S. EPA does for
all carcinogens.
If you have
any questions about this letter or the enclosed information before
you finalize the PHGs, please contact Krista Clark at 916-441-4545.
Sincerely,
Dan Smith
Manager of Regulatory Affairs
Attachments:
- Aluminum
- Uranium
- Tetrachloroethylene
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