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REMARKS OF THE HONORABLE RUSSELL TRAIN, CHAIRMAN PRESIDENT'S COUNCIL ON ENVIRONMENTAL QUALITY
BEFORE THE SENATE COMMERCE COMMITTEE SUBCOMMITTEE ON THE ENVIRONMENT August 3, 1971
Mr. Chairman, Members of the Committee, it is a pleasure to appear before you to testify in support of S.1478, The
Toxic Substances Control Act of 1971. Since the Committee
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will have an opportunity tomorrow to hear testimony from
Mr. Robert Fri of the Environmental Protection Agency, which
., will have administrative responsibility with respect to
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S.1478, I will confine myself to the basic concepts of this
bill and the need for such legislation.
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In the Spring of 1970, shortly after the Council on
Environmental Quality came into being, we turned-to the
question ofchemical substanceswhich might endanger human
health and the environment. A study initiated at that time '
resulted in the proposed Toxic Substance Control Act as part
of thePresident'scomprehensive program .
of environmental
legislation, and a report this Spring, which I have made
available to all the Committees of Congress. Allow me to
highlight several of the findings in this report.
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We live surrounded by growing amounts of new and dis
placed chemical substances, several of which pose hazards
to human health or the environment even in minute quantities.
Some 2 million chemical compounds have been identified and
many thousands of new chemicals are discovered each year.
Most new compounds are laboratory curiosities, but thousands
of chemical compounds are already in commercial use and several
hundred new chemicals are introduced into such use each year.
Approximately 9000 synthetic organic compounds were in
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commercial use by 1968. Production has been increasing from
over 103 billion pounds in 1967 to nearly 120 billion pounds
in 1968. In fact, chemical production over the past decade
has averaged an annual increase in excess of 15%. With
changes in industrial needs and technological knowledge, new .
and more complex compounds with new and different uses are
constantly being developed and introduced into use.
Many of these chemicals ultimately are discharged into ,
our water, air, and soil systems. After the substances enter
the environment, they may be diluted or concentrated by
physical forces, and they may undergo chemical changes, in-
eluding^ combination with other chemicals, that affect their
toxicity. The substances may be picked up by living organisms
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The ' results of the interactions between living organisms
and chemical species are often unpredictable, but such
interactions may produce materials or concentrations that are more dangerous than that of the initial pollutants.
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Many, perhaps most, metals* are prerequisites to life,
usually in trace amounts. However, some metals and/or their
compounds can and do aversely affect human health if ingested
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or absorbed inexcessive quantities.Serious ..
adverse environ.'
mental and/or health effects, actual and potential, have been
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observed or indicated for roughly one-fourth of the metals
in common usage today. A necessity of life at certain levels,
they can be lethal at increased levels. .
Withoutgoinginto our experience withmercury pollution,
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with which your Committee is familiar, let me cite two other
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example's to illustrate the reason for our concern. Take for example Polycholorinated biphenyls. PCB's, a
group of chemicals also known as Aroclors, are among the
most persistent organic chemicals. They degrade very slowly
in the environment. This class of c-c -.pounds has been widely
used as an additive in the production of plastics. PCB's
. are generally not chemically bound in .the plastics and there-
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fore may be easily released to the environment. In addition to use as plasticizers, they have also been used in electrical
transformers, inks, lacquer resins, and as lubricants, heat
transfer fluids, and carriers for some insecticides.
Structurally PCB's resemble DDT. Like DDT, they are not
soluble in water but can collect in high concentrations in
the fatty tissues of living things. This chemical resemblance
has made analytical differentiation difficult and as a result,
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it was only in April 1969 that PCB's in the environment were
first recognized as residues in oysters in Escambia Bay,
Florida.
Since this discovery, PCB's have been found in salt and freshwater fish, sediments, and water, and in crabs,
shrimp, marine and terrestrial birds, seals, and man. A study
of humantissue samplesshowedconcentrations of fromless
than 1 part per million to as high as 250 parts per million.
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Another study found that over half the urban residents
examined had detectable levels of PCB's in their blood.
Tests with PCB's have shown that concentration of 0.1
ppm were fatal to juvenile pink shrimp after 48 hours exposure
and the sameconcentration stopped oyster shellgrowth
96 hours.
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A residue level of 5 ppm has been established by the
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Food and Drug Administration in marketed flesh.
Within the
last two weeks, a number of newspapers have reported that
PCB contaminated broiler chickens are being tracked down in
12 southern states. Last year in New York's Sullivan, Orange,
and Ulster countries alone, 146,000 chickens were destroyed
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because they were contaminated with PCB's
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Because of the recent disclosure of chlorinated biphenyls
in the environment, the full range and effects of these
chemicals are yet to be determined.
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Cadmium provides another example. Like all metals,
cadmium does not degrade in the environment. Thus, as more
cadmium is refined, used, and disposed of, increased amounts
may reach man. Cadmium becomes a pollutant through a variety
of processes and is being used in increasing amounts by the
storage,battery, plastics, plating, and petroleum industries.
The metal is concentrated in shellfish in nature by a
factor of 900 .to 1600 times. In man cadmium levels have been ...
found to reach 30`milligrams total body burden in 50 years
from a starting point of about 1 microgram at birth.
The effects of such accumulation vary according to the
amount and time period of exposure. Some preliminary studies
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indicate that exposure levels of cadmium from sources present
in the everyday environment may lead to hypertension, heart
disease, and emphysema and perhaps to cancer. In the most
publicized case of cadmium poisoning, over 100 persons died after . . ..
eating rice irrigated by water from a cadmium polluted river
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in Japan in the 1950's.
We should provide for methods to evaluate and if necessary
regulate that production and use of toxic substances such as
PCB's and cadmium, which we find pose a significant threats to
human health or the environment. Existing law does not entirely ignore these types of potentially harmful substances. Current laws, however, are inadequate to control the actual and potential damages of toxic substance comprehensively or systematically.
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Toxic substances are now dealt with partially in the Hazardous Substances Act, section 12 of the Federal Water
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Pollution Control Act, the recent amendments to the .Clean Air
Act, and certain authorities of the Department of Transportation.
The Hazardous Substances Act covers household products
and toys - but not the raw materials from which they are manu
factured. Thus, it does not deal directly with most of the
toxic substances which find their way into our environment.
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Section 12 of the Federal Water Pollution Control Act
is generally aimed at accidental spills of hazardous substances *.
' into water and thus does not completely cover either con-
tinuous discharges into water or releases into other media.
Administration proposals would provide for effluent standards
on toxic substances, but would hot prevent their introduction
into the environment through other than direct discharges.
Moreover, even with the aid of Amendments to the Water Pollution Control Act, it will be virtually impossible to control the introductions of certain potentially toxic substances through sources such as municipal plants without
some control over their use and distribution. ` "7 ........
The Clean Air Amendments of 1970 authorize emission
standards and other measures for all existing and new sources
of air pollutant emissions including substances found to be toxic.
The Department of Transportation regulates interstate .
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transportation of hazardous substances under several authori-
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ties. Most of the problems of toxic substances, however,
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relate to aspects of their use rather than to transportation
and spills.
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The current controls over th manufacture and distri
bution of the substances we are concerned about pertain to only a small percentage of the chemical substances which find their way into the environment. What controls over production and controls over effluents there are, suffer from the limited focus of their* authority.
Setting rational standards for many pollutants under existing legislation is almost impossible. The key factors involved in setting standards are the total human exposure to a substance and its total effect on the environment. An obvious limitation of the controls over effluents is that they generally deal with a problem.only after it is manifest. They do not provide for obtaining information on potential pollutants before widespread damage has occurred.
Our awareness of environmental threats, our ability to screen and test substances for adverse effects, and our
capabilities for monitoring and predicting, although inade-
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quate, are now sufficiently developed that we need no longer
remain in^a purely reactive posture with respect to chemical
hazards. We need no longer be limited to repairing damage
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after it has been done; nor should we allow our population to
be used as a laboratory for discovering adverse health effects.
There is no longer any valid reason for continued failure to
develop and exercise reasonable controls over toxic substance
in the environment.
The proposed Toxic Substances Control Act (S.1478) would
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provide a mechanism for the comprehensive, and systematic
control of hazardous substances in our environment.
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Under the proposed bill, the Administrator of the
Environmental Protection Agency would be empowered to restrict
the use or distribution, including a total prohibition, of
a chemical substance, if such restrictions were necessary to pro
tect health and the environment. In proposing such restriction
the Administrator would be required to consider not only the
adverse effects of the substance but also the benefits de
rived from the use of the substance as compared with the
risks; the normal circumstances of the use; the degree to
which the release of the substance or its byproducts to the
general environment is controlled; and the magnitude of
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the exposure of humans and the environment to the substance
or its byproducts.
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The bill also provides for the issuance of standards
for tests on the various classes and uses of new chemical substances. A new compound would be forbidden to be marketed if it did not meet these standards. This concept must be
implemented carefully so as not to thwart technological
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innovation, and we must also keep in mind the impossibility of conclusively providing that a product is safe.
In addition .to these major authorities, S.1478, would
enable the Environmental Protection Agency to develop the
resource necessary to predict the introduction of new
chemical substances into the environment and to assess the
environmental consequences of such introduction,.and would
charge the Council on Environmental Quality with coordinating
efforts to establish a uniform system for classifying and
handling information on chemical substances.
We believe that the provisions contained in the
Administration bill are necessary and workable, and that they
present a sound framework for a balanced and rational scheme
of toxic substances regulation.
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. _11_ Mr. Chairman, that concludes my prepared comments on
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5.1478. If I may, however, I would like to very briefly
comment on some of the provisions in Amendment No. 338 to
5.1478, introduced by Senator Spong on July 27, 1971.
I thank Senator Spong for his support of the Admini
stration bill and appreciate his careful study and efforts
to improve it.
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The Council is concerned, however, that requirements '
for preclearance certification, mandatory reporting of tests, taxation, and reimbursement for testing, for the many chemicals
covered under Amendment 338, could involve stifling and cumber
some administrative procedures and dilute the ability of
the Administrator to effectively and efficiently regulate
the most significant hazardous materials. With respect to
the Sections of Amendment 338 which refer to Seizure, and
Confidentiality, we feel that S.1478 adequately and effectively
covers these areas. With respect to citizen suits, our
general position is that we will accept a citizen suit clause
to enforce mandatory duties of EPA and federally sanctioned
,' * pollution control standards. S.1478 does not involve these
features to the extent that a citizen suit clause would be
appropriate.
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Because toxic substances presc t- such important environ
mental problems, we have attempted to draft as an effective
a bill as possible. We have sought to provide comprehensive
and systematic mechanisms for the control of hazardous chemicals,
while at the same time, avoiding excessive administrative
burdens.
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Thank you for the opportunity to appear and present
these additional comments on the pending legislation. I
will be glad to answer any questions you may have. `
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