Document 6LVrZgEbdYJd937a0q0V5ged
Remarks by
THOMAS 0. MATHUES Vice President
General Motors Corporation
Washington, D.C
before the Asbestos Information Association
September 17, 198D
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Thank you, and good afternoon, ladies and gentlemen. It's a pleasure to have been asked to take part in today's program. The proper and safe use of asbestos is obviously an. area of vital interest, and 1 know from experience that programs of this type can be extremely helpful in all our thinking.
General Motors is a large user of asbestos fiber and asbestos-containing
products. We use these materials in many of our products, including
passenger cars and trucks, buses, off-road vehicles, diesel-electric locomotives,
and powerplants for stationary applications. They also are incorporated in
some plant-maintenance items and other non-production materials. Both
applications are used in General Motors operations around the world. But, in
order to address the specific interests of this group, I would like to
confine my comments today to our North American operations.
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Asbestos is just one of hundreds of toxic materials which are constantly
under study at GM. And, before we go further, let me make a distinction
between "hazardous" and ."toxic" materials. All chemical materials are, to some
extent, inherently toxic. Ordinary tap water, for instance, is toxic -- though,
obviously, to a very low degree. With improper use, however, toxic materials
can become hazardous. If this room was filled with water right now, we would
be faced with a rather hazardous situation.
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General Motors Corporation has, for years, been committed to protecting
our employes by recognizing, evaluating, and controlling exposure to toxic
materials. To a large extent, these programs are only now being required by
various regulations.
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It is our continuing practice to evaluate all materials prior to their use. The evaluation considers inpact on the environment, health', product performance,
and cost, including the cost of government control. Thus, if a material we might be considering requires environmental assessment, ox the administration of medical examinations to employes, those costs are also included.
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We are prepared to change present practices, when there is need to
do so. For example, when it became accepted by the medical community that
excessive air-borne exposure to asbestos fiber was more hazardous than
previously thought, we re-evaluated our use of the mineral. Workplace and
ambient air quality were monitored. Employes were given medical examinations
designed to determine the presence of typical abnormalities caused by asbestos.
New processes are continually being investigated and substitute materials
are being sought.
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The use of asbestos fiber and asbestos-containing products was reviewed by local GH plant hazardous materials control committees. The committees are composed of people knowledgeable about production processes, chemistry, and health, and. environmental effects. They evaluate all present or potential materials and recommend safe methods for storage, handling, use, and disposal.
As a result of all this review and testing -- which is continuing today -- we revamped Dur asbestos-related operations at many GM plants. The changes required a significant investment . . . but resulted in improvements in the environment and in the protection and preservation of employe health and safety.
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Let me emphasize that we did this in response to new medical findings. Much of our work occurred before the federal government published its asbestos rules.
One phase of our evaluation of asbestos considered availability and cost of control. We do not foresee an imminent supply problem with grades currently in use at General Motors. But the legislative and regulatory climate is uncertain, and the cost of the continuing use of asbestos may be dependent upon the existence of stringent compliance requirements.
For example, if the exposure limit is reduced to that which NIOSH has proposed, our compliance costs will certainly increase. However, if the limit is not as stringent as presently proposed by NIOSH, we feel that with some added processing and cooling expense we could meet the standard in most of our operations. ___
Based on current information, however, we do not see an urgent need to
curtail all asbestos usage. But we do believe alternate materials must be examined, should the need arise, for economic or health reasons, to replace
asbestos-containing materials. Thus, we agree that nonessential uses of
asbestos should be controlled whenever adequate substitutes are readily available . .
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providing those substitutes are economically'feasible, and providing they will
not result in any new health risks.
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At General Motors, our largest use of asbestos is in friction materials such as the 5-6 million sets of brake linings and about 44 million clutch facings wa produce each year. Other uses include various gaskets, sound deadeners for metal, fillers in mastics and adhesives, and some electrical component parts. We also use construction materials containing asbestos -- concrete, asbestos pipe, roofing felt, and floor tile, for example. PRODUCED BY FORD
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We believe there is a basic distinction between processes using raw asbestos fibers and those using asbestos-containing materials. Whenever loose fiber Is used, we exercise great caution to minimize the potential release of fibers to the work place or the ambient environment. The same care is used whenever asbestos materials are handled in such a way that loose fibers could be generated -- for example, in cutting asbestos paper or grinding a brake lining.
For many asbestos-containing materials, such as adhesives, brake linings,
mastics, and floor tiles, the asbestos is bound in a matrix. This matrix
is either flexible -- as in tar-based sound deadeners --* or highly durable,
as in 'Concrete asbestos products. In these kinds of materials, asbestos fiber generally Is not released during our manufacturing processes unless the
material is misused.
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In our view this is an important distinction. In considering rsk analyses, or in considering regulations and standards, we think it is important to differentiate between applications involving loose fibers and those Involving non-friable materials or encapsulated fibers. Such differentiation is not the case today -- and it should be in our opinion.
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The techniques and devices used by General Motors are designed to contTol
the release of asbestos fiber.
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Recently, there has been considerable discussion about the use of substitute
materials for automotive friction products. While asbestos substitutes are being used m some light duty brake systems, we have not found effective substitutes for nany other applications. Various substitutes for asbestos In clutch plates have been Investigated, but no suitable alternatives have been found.
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Certain products, therefore, will probably continue to contain or use
asbestos. So we should avoid any ban on use and distribution of either original
equipment or replacement parts for which there a're no substitutes. In. most
cases, for example, non-asbestos brake linings, if installed as replacement
parts, will not provide suitable performance in older brake systems designed
for asbestos linings. In such cases, the configuration of the entire braking
system has to be charged. Changes of this magnitude would require extensive
and costly modifications and testing. Since we cannot recommend substitution
of non-asbestos linings an brake systems designed for asbestos, an adequate supply
of replacement asbestos linings should continue to be available. This same
situation wij.1 hold for friction materials used as clutch facings in both manual
and automatic transmissions.
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General Motors does not use body fillers containing asbestos. However, sound deadeners today contain asbestos as an inert filler. The matrix doesn't dry to the point of becoming brittle, nor is it sanded or ground during vehicle
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production. Thus, asbestos fibers used in sound deadeners and other types of undercoatings really do not constitute in our opinion a ready source of air borne asbestos fiber.
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However, we are encouraging development of substitutes for most asbestos-containing mastics, sound deadeners, and the like. For example, mineral wools, and glass^fibers may be effectively substituted in some applications. Perhaps some products can be reformulated to eliminate the need for fiber fillers. But we recognize that the substitute fillers may be more costly.
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In conclusion, let me say that General Motors Corporation has a long standing commitment to protect the health and veil-being of its employes, the general public and the environment. While ve encourage the use of materials having little or no hazard, ve are prepared to continue using materials that require more extensive controls whenever substitutes are not available.
We are proud --" justifiably -- of our record of'safety in dealing with
potentially hazardous materials. And I assure you, ve will pursue every
effort to continue that safety record.
Once again, it has been a great pleasure to take part In this program.
Thank you very much.
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