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PLAINTIFF'S EXHIBIT
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c jM4^>Statement of
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X. V. Nelson
Director, Department of Environmental Sclenoee
American Smelting and Refining Company
Salt Lake City, Utah
Public Hearing on Emission of Hazardous Pollutants Los Angelos, February 16, ISVi
My name ie K. W. Nelson. I am Direotor of the Department of
Environmental Sciences of the American Smelting and Refining Company.
I have been in environmantal health work for JO years, 26 of them with
American Smelting. Because we have an Interest in asbestos production
and in all the trace metals associated with our principal products -
copper, lead, and zinc - I wish to comment on the proposed national
emission standards for asbestos and mercury.
During World War II, ee a member of a Navy team assigned to
C develop Industrial hygiene programs in shipyards building ships for the Navy and Maritime Commission, I had occasion to observe closely i
all jobs dona in ship construction. One of them was the installation
of aabeBtoa insulation, particularly in the boiler roans oT`'ships, Amosite, chrysotile, and crocldollte forms of asbestos were used'.
We knew very wall then that inhalation of excessive asbestos dust
over a period of time oould cause asbeatosla. We wex^e appalled to see
that asbestos handling, cutting and application were done almost always
without regard to dust exposures. Workmen would literally be covered
with duBt and visibility in engine and boiler rbomS would often be
diminished by floating dust. My memories of those scenes are vivid, <
We urged dust oontrol wherever practicable - which was not often
& the case then - and at leaBt we urged the wearing of respirators
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approved by tha U.S. Bureau of Minas for protection against pneuaoco-
ni oh is-producing dust. But I must say our ^commendations vara often
not followed assiduously.
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Also during the war I had occasion to in'speot an asbaatos textile
plant providing Navy goods. Again 1 saw workrooms with visible dust.
Every light fixture or other hanging appurtenance wae featooned with
fiber masses like trees adorned with Spanish moss. Dust control ccri
sis ted of Bpreys of water mist in the roc^ to keep the asbestos damp and to allay dust. The hanging fiber accumulations were evldenoe that
the control was not very successful. There is no doubt in ny mind that "^he cavalier practices of insula
tion installers of 30 years ago and perhaps in ensuing years v;ere respon
sible for the asbestOBis discovered in-recent years and for the markedly
increased incidence of lung cancer which is apparently the result of t
cigarette eaoking plus massive occupational exposures to asbestos duet.
My special interest in'mercury began in 191!! when Dr. E. p. Laug
and l, working for the Pood and Drug Administration in Washington,
developed an improved method for determining mercury in biological ii materials - a method which is etlll tha official one of the Association
of Official Agricultural CheaiBts, though there have since been developed
a number of better and faster methods. 1 assisted also In toxicological
studies of mercury's effeots on animals,
Sinoe those early experiences I have followed with ears the expand
ing scientific literature on asbestos and mercury and their relation
ships to environmental health.
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The first specific comment X hive on the proposed national
emission standards for asbestos and mercury is that neither substancea *>
In my opinion, derervcs being net aside as on especially hazardous air
pollutant. Health effects from excessive exposure to airborne asbestos
and mercury have been related almost exclusively to occupational situ
ations which involve exposures for greater than any which the public
could experience. An exception may be the "neighborhood" illness cases
ascribed to asbestos, but almost oertainly such oases resulted from
la aX of dust collection which would be routine today in order to main
tain in-plant sirborne fiber levels within occupational health standards.
My point is that almost any substance capable of being airborne
and causing "irreversible, or incapaclting reversible, illness" could
c be classified as a hazardous air pollutant. -Carbon monoxide is an obvious example and of oourse the total national man-hours annually of l public exposure to oarbon monoxide in Significant quantities would far
exceed the total man-hours of publio exposure to asbestos or mercury. t
By " Bigriigicant exposure" X mean one which would be likely to provoke
significant physiological change.
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My further point Is that distinguishing asbestos and meroury as
"hazardous" means to the public "extremely hazardous" and arouses un
necessary anxieties. Our environmental anxieties these days may indeed
be overshadowing those more deserving of serious public attention.
President Nixon's reoent message to Congress on environmental pollution
effects on health raised questions about our classifications of hazar
dous substances. He said, in discussing the identification and distri
bution of adverse agents, "In sane cases the grounds for alarm are
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wall-founded; In oth j - ./ a^*2 beyond the evidence. The reason a
for inclusion are varied nr.d not always well-founded. There has been
little attempt to review the whol" range of environmental agents I
systematically^ or to adopt a ceralabant basis for Judging an environ
mental agent ai a hazard/ /
I .would urge tha Snvirr'..r.e~oal Protection Agency to re-conalder
the need for national eci-ji or. a..awards for mercury and asbestos on
grounds that feare go beycnc the evidence. /
paragraph 61.21,; i), fir.-;asbestos tailings as any solid waste
product of asbestos minir.-, nr r. ..l:lns operations which contain asbestos.
ThiB definition is too br-v..
the mining industry the word "tailings''
applies to the finely div..d product of milling or, less commonly, to
c the ovensize material pani'-, ever screens. As defined now, the term "tailings" would mean vir:u-;my material from an asbestos mine. The definition should bs modified. paragraph 61.22,(a),prohibits visible emissions from any mine road surfaced with asbestos tailings. Under the existing tailings definition any road in an open pit mine surfaced with waste rock, frera the pit, or not especially surfaced at all, would be aurfaoed with asbestos tailings.^ And the rook would in all likelihood contain acme asbestos. Both becauae of this situation and beo&use we believe it impossible not to have, at any time, some visible emission from trucking on road ways, we believe the visible emission prohibition should, be dropped. It is routine practloe to prevent dusting of roadways and it would be necessary to meet the OSHA airborne asbestos standard for truck drivers
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and miners in the tret. These facts Mould preclude, in our opinion,
an/ possibility of significant neighborhood asbestos contamination J
from a mining operation.
The complete prohibition of emissions seems to us an impossible
requirement in paragraph 6l.22,(b),(l), referring to visible emissions
from ore dumps, storage areas, conveyors, and tailings dumps. In (d),
referring to building demolition, and in (a),(l) end (2), referring to
asbestos spraying. Again It seems to us that good dust prevention
practices should be applied, but that absolute prevention of a visible
emission is impossible.
Paragraph 61.22, (f), 1b objected to beoause of the uae of the word
"tailings" in its overly broad sense. The restriction aa it stands
would mean hauling in materials from outside a mine area when an abun
C .dance of rook, overburden or other waste rock, was immediately available
rcr road construction.
The various categories of fabrio permeability specified in para-
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graph 61 22 (a);(c), and (d) are unnecessary. The high efficiency of
fabric filter bags for collecting dust and fibers is principally a
function of the filter cake which quickly builds up on the bags when
in uae. It is a superfluous refinement. In our opinion, to have the
various grades* A ""single specification of 52 or kO CFM/ft la recom-
mended.
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No risk to the public from airborne mercury in particle or vapor
form has aver come to our attention. U.8. Geological Survey professlon-
' al paper 713 reports atmospheric mercury concentrations at ground level
near mercury ore deposits of 20
diminishing to 0.1 ng/m* ^00 feet
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above ground. Air at ground level over precious metal ore# ha#
reached 1.5 ng/m*. Afcain we raise the question of Why mercury should
be set aside as a hazardous pollutant. It's relative rarity, relatival:
high cost, and the lack of any observed community air problems argue
against its hazardous classification. We may be creating a problem In
trying to solve a non-existent one.
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The five-pound per 34-hour emission limitation specified in para
graph 61.53 appears to be purely arbitrary/ No allowances are made for
the concentration of mercury in a given effluent or for stack height and subsequent dilution. At the very least, an option should be per mitted to meet an appropriate ambient air standard, as In the ease of
c beryllium. What the ambient air standard should be is unknown at present, but 1 }ig seems very conservative. In any case, there is surely time to develop and agree upon an ambient air standard. There Is no emergency. The stack testing and record keeping would be eliminated if an ambient air option were available and chosen. Ambient air.monitoring , should be permitted on a 26-day a year schedule like that followed by the national air sampling network. After two years of such monitoring, permission to dlBoontlnue it should be granted, provided satisfactory evidence is submitted to the administration that ambient air levels have been satisfactory. Changes in plant practices that would lnorease morcury emission would automatically mean a resumption of ambient air
monitoring. We appreciate this opportunity to express our views on this
proposed legislation.
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