Document aDmjg9G5xOo74bMYxr027KNbN
UNITED STATES GOVERNMENT
Memorandum
PLAINTIFFS EXHIBIT
GP-264
U.S. CONSUMER PRODUCT SAFETY COMMISSION
WASHINGTON. D C. 20207
TO
THRU:
FROM
SLJOJCCT :
Francine Shacter, TAD/OSCA ,//// Walter R. Hobby, Director//'bViti
oate: May 13,
Joann Langston, AE D/HIA Dale Ray, BEAiy
i
Materials for Preliminary Briefing on Asbestos Ban
19 77
Attached are our comments on the existing definitions of the products involved in the ban and asbestos itself, the environmental issues to be explored before the issuance of a formal environmental assessment, effective date considerations, and the kinds of things the Commission may wish to include in its Section 9 findings. We are currently working to fill the gaps in our knowledge about the effects of the ban as quickly as possible.
Attachments
US. G0VIRNM1HT PRIMING OfMCt: 1974 7J3-SJ1/H04 1-3
May 13, 1977
Definitions of Products a)_ Artificial Fireplace Ashes
We generally concur with BBS's definition. Some clarification may be desirable, however, concerning the fact that the gas log itself, which may contain asbestos as a structural component but which is not a source of free fiber availability under reasonable or foreseeable use, is not the subject of the ban unless the log comes "frosted" with asbestos from the factory (we estimate that less than 10% of all gas logs are frosted). There has been some confusion on the part of the industry on this point. b) Patching Compounds
Again, we concur with BES' definition. Examples of specific products covered by the ban might be: spackling compounds, tape joint compounds, caulking compounds, crack patches, putties, and other ready- or pre-mixed substances intended for patching or sealing walls, ceilings, etc. Roofing patch compound could be included in the definition, but this is currently unclear. Further guidance regarding which products the Commission would like to include in the definition is needed.
What asbestos is. whore it contos from, how it is u.scd.
"AsbesLos" is a general term for any of* several-------------varieties of mineral fibers composed of silica, oxygen, hydrogen, and other elements such as sodium, calcium, iron, or magnesium. 2/ The name is derived from the ancient Greek term for "incombustible". There are six basic varieties of asbestos minerals which are found in fiber form: chrysotile (the most common variety, and that ordinarily found in asbestos-containing products), anthophyllite, amosite, crocidolite, actinolite, and tremolite (the material to which the name "asbestos" was originally given). For the purpose of the proposed ban on certain products containing "free" asbestos, we have tentatively defined "free" asbestos fibers as these which are not bound, woven, or otherv/ise locked in by resins or other bonding agents, or which can readily become airborne with any reasonable or foreseeable use.
Most of the world supply of commercial asbestos is chrysotile, the fibrous form of serpentine. The largest deposits are in Canada and the USSR. Canada is the largest world exporter (over 1.1 million short tons in 1975), though the USSR is now the world's largest producer (2.5 million short tons in 1975). South Africa is the world's third largest producer. About 95 percent of U.S. raw asbestos consumption is imported; over 95 percent of U.S. imports are from Canada. Small amounts of as bestos are also mined in the U.S., mainly in North Carolina, Arizona, California, and Vermont.
Asbestos has a variety of industrial uses related to its heat and moisture resistance. In patching compounds, asbestos fibers are used to reinforce the material as it cures (i.e., to control shrinkage and cracking) and as the compound is alternately exposed to heat, cold and moisture after curing. Asbestos also provides a measure of sound and heat insulation to the material, and enhances the workability of the compound (e.g., during troweling). Various other desirable characteristics of asbestos in patching compounds are outlined in DES' draft working paper of May 6.
In artificial fireplace ashes, asbestos is used to simulate glowing embers which are either glued to the log or are sprinkled on and about the log and the fireplace bed on which it rests. The effect created by these "embers" when exposed to flames from the log's gas jets is decorative, and does not affect the performance of the log itself.
1/ See 13ES draft working paper, 5/6/77, M. Rivero.
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Environmcntal Issues
Asbestos is a ubiquitous mineral fiber that has been used for many years in the U.S. in occupational settings (primarily building construction). This has led to lowlevel, but widespread consumer exposure. Asbestos is found in the air, water, and land (in minute concentrations rela tive to those found in or near asbestos mining or processing facilities).
The elimination of asbestos from consumer patching compounds will reduce environmental asbestos fiber release from all patching compounds by less than 5 percent. This constitutes a negligible percentage of all asbestos fiber release. Disposal of present inventories is also expected to pose no significant problems since it would account for a miniscule portion of all asoestos disposal. Similar the elimination of asbestos from gas log emberizing kits is not expected to reduce free fiber emissions significantly, either nationally or regionally (most of the manufacturers are located in California). Further, the staff is issuing guidelines to minimize consumer exposure to floating fibers during cleanup and disposal of embers. Thus, no significant effects are expected from the ban itself.
The potential environmental (i.e., health) effects of the use of substitutes, is however, an issue which needs further study before we can prepare a complete environmental assessment. To the best of our knowledge, there are t\r currcntly-available substitutes for asbestos in artificial fireplace ashes, and two substitutes for asbestos in patching compounds. We currently have no information concerning the safety of the ember materials (one is a synthetic fiber and may be similar in shape and size to asbestos). Animal testing is underway to develop a body of knowledge about the patching compound substitutes; no conclusions about their safety have yet been made. Thus, although we cannot show evidence that the known substitutes are hazardous, we also cannot show evidence that they are not.
This discussion is linked to the notion that specific
chronic hazards policy decisions may become necessary on
the question of how the Commission wishes to treat potential
- or suspected, br.t not proven, carcinogens and other long-term
or chronic health hazards.
More laboratory testing may be
desirable before regulatory decisions on substitutes are
made.
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Effectivo Date Considerations
We are currently assessing the probable effects on the relevant industries of effective dates of 30, 180, and 360 days after publication of the ban in the Federal Register. It appears that many of the gas log manufacturers have already ceased shipment of asbestos-containing merchandise. We expect that the gas log manufacturers can produce com plying (non-asbestos-containing) merchandise for shipment in a- relatively short period of time (perhaps 30 days after publication) with less disruption of manufacturing and mar keting practices than can those manufacturers of patching compounds who have not reformulated their products. Both groups, however, may have considerable difficulty in tracing their products through the channels of distribution, which often may be long and complex. We know little about the current state of inventories at various levels of distribution at this time. We are attempting to determine typical turnover cycles, etc., as we further define the products to be covered by the ban.
We are also assessing the potential effects of a prospective versus retroactive ban (i.e., one applicable to products in distribution channels as of the effective date). A retroactive ban would probably result in greater total cost to and disruption of the industry than a prospective one. Further consideration of the potential benefits to the public of a retroactive ban is needed. We have no informa tion to indicate that a retroactive ban would significantly reduce total annual fiber release.
;
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prrnf'h -5?c^ior! 9 --Fi.ndings _________________________________-----------------------
(a) The degree and nature of the risk of injury.
To be submitted by BES and the Medical Director.
(b) The approximate number of consumer products, or types or classes thereof, subject to the ban.
This ban covers two basic kinds of consumer products: artificial fireplace ashes, and patching com pounds, including tape joint, spackling, and caulking compounds, crack patches, putties, and other substances intended for use in patching, masking, or sealing cracks holes in walls, ceilings, etc.
or
The Commission estimates annual sales of arti ficial gas logs or emberizing kits potentially subject to the ban at 25,000-30,000 units, assuming a sales rate of one emberizing kit per log. Some of these logs come "frosted" with asbestos, in which case the entire log would be banned; others come packaged with emberizing kits included; still others are sold independently of the emberizing kits.
The Comrnissio:. is currently investigating the category of products called "patching compounds" to deter mine which products should properly fall in that category and how many units of production an inventories might be subject to the ban. There may be millions of individual units of product in distribution .fhich would be banned.
(c) The need of the public for the consumer products subject to the ban, and the ban's probable effects upon the utility, cost or availability of such products to meet such need.
Artificial fireplace ashes serve a decorative purpose, and do not materially affect the actual performance ! of the log, its gas jets, or its ability to provide heat. There is a certain aesthetic desirability, however, since the product (the gas log, ashes and embers) is intended to simulate something, i.e., a real burning log. To the extent that artificial emberizing material enhances consumers' enjoyment of the product, there is some perceived need for the material.
1
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Patching compounds, though used primarily by
commercial Uutiu^^iA.-U^wi<- L! wrvt f,r> vj.V rs w f
"G Cll.no utsod *-V COnc,1TT'orS , -_
and are used for the patching and sealing of holes, cracks,
etc., in and around the household. As such they are thereby
subject to consumer maintenance, including sanding or
cutting, regardless of who the installer v/as. The compounds
are used to cover holes and cracks which might otherwise
lead, to structural damage, energy loss, and lower property
value. Not all patching compounds contain asbestos. In
those that do, asbestos is used as a structural reinforcing
agent. There are no substitutes for patching compounds in
these applications.
The elimination of asbestos from these products will necessitate the use or development of substitutes which have similar properties to those of asbestos, or which impart similar qualities to the product. There are two known substitutes for asbestos in artificial fireplace ashes. The use of these substitutes is already growing in the industry; it is not expected to affect the utility consumers derive from the product. One substitute's reported cost to producers is about ten times that of raw or milled asbestos fiber. This may lead to a price rise for
some separately-sold emberizing kits (which currently sell for about $3-$5). This is not expected to affect signifi cantly the price of frosted gas logs, however, since the "frosting" constitutes a negligible percentage of the cost of the item. No effect on the overall price level of gas logs is anticipated. Neither the availability of the asbestos substitute to producers nor the availability of non-asbestos-containing logs and emberizing kits to con sumers is expected to be restricted significantly by the imposition of the ban.
We currently are aware of two substitutes for asbestos in patching compounds. Some industry sources have reported that at this time the substitute formulations are not as effective as asbestos-containing formulations in controlling shrinkage and cracking over a period of several years. The pliability of some compounds may be diminished somewhat as well. This may adversely affect the utility derived from the product by consumers until such time as improved substitutes are developed and are available to consumers. The use of substitutes is not expected to have a bearing on the other properties of patching compounds (e.g., color, smell, sandability, etc.). A study performed for OSIIA on the effects of reformulating certain kinds of commer cial patching compounds estimated a 12-13 percent price increase associated with that reformulation. Similar increases may occur in the consumer segment of this market for some
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products; for other products, there may be smaller or larger increases (if any). Prices currently vary over a fairly wide range among and between products; thus, direct price comparisons of asbestos-containing versus non-asbestoscontaining brands may not be useful at this time. The availability of asbestos-free patching compounds may be restricted to some extent. We are currently investigating alternate effective date recommendations. It appears that those patching compound manufacturers whose products are already asbestos-free may have a temporary competitive advantage (in terms of availability in distribution and to consumers) over those firms whose products will have to be reformulated.
(d) Any means of achieving the objective of the ban while minimising adverse effects on competition or disruption or dislocation of manufacturing and other commercial practices consistent with the public health md safety.
The primary method by which the Commission can minimize any adverse effects of the ban is to adjust the effective date. As discussed above, the cost and avail ability of substitute patching compounds may be signifi cantly affected by the chosen effective date. The Com mission is currently considering effective dates of 30, 180, and 360 days after publication of the ban in the Federal Register. A date will be chosen which reasonably considers the potential effect of a delay on the public health and the relative economic impact of such-a decision on the industry and on consumers.
UNITED STATES GOVERNMENT
Memorandum
U.S. CONSUMER PRODUCT ------------SAPE-TY- COMMISSION*- -WASHINGTON. . C. 20207
TO Francine.Shacter, TAD/OS . .
DATE: May 20, 1977
THRU : Joann Langston, AED/HIA'%^ /////.Walter R. Hobby, Acting DAED/|;;Ayconomics
Warren Prunella, Acting Dir., Econ. Prog. FROM : Dale Ray, Econ. Prog. Anal. Div.
Div./HIA
SUBJECT Possible Section 12 Action on Asbestos
It has come to our attention that the Commission's decision to ban free asbestos in certain products under Section 8 of the CPSA may be supplanted by or supplemented with an imminent hazard action under Section 12 (which can be undertaken regardless of the existence of any other rule). We would like to point out that our preliminary analysis and comments concern a Section 8 ban that may extend to products in distribution channels, but not to products in consumers' hands.
Under Section 12, the Commission may require a recall/ repurchase by the manufacturers, distributors and retailers of the products (i.e., artificial fireplace embers and patching compounds containing asbestos). We see some problems in this regard.
Gas Logs
We foresee severe adverse economic effects on the gas log industry should a repurchase proceeding be,,instituted. Though a voluntary recall is currently being performed by the manufacturers through all known levels of distribution to eliminate any further sale of asbestos-containing embers, a total repurchase of perhaps 10-20 years worth of production could not be performed easily.
The most immediate problem here is one of traceability: determining exactly where every emberizing kit is located would be considerably more difficult and costly than simply offering, as is the current practice, to replace asbestos-containing kits with asbestos-free kits as soon as they are available. This is primarily because emberizing kits are not generally content-labeled; thus, it is diffi cult to discern asbestos-containing batches from asbestos-free
U.S. GOVtflNMCNT PRINTING Of f ICC. 1974 7JJ-M)/K l-J
2- -
batches except by shipping date in most cases. In addi tion, detailed shipping records are not kept for many firms unless the embers are sold as part of the log or part of the package. The more levels of distribution there are, the more difficult the tracing process becomes. For this product there are usually three or four "steps" in the physical distribution chain.
Another problem arises in determining the effects of a potential repurchase which may require guidance from the Commission or the Office of the General Counsel. Gas logs and emberizing kits are often sold separately, i.e., the producer of the log may not be the producer of the emberiz ing kit. Once a log has been "emberized" by the consumer, would the entire log be subject to repurchase? By whom? Would the log manufacturer be responsible for providing a $100 refund to rectify a problem resulting from the use of another firm's product? Similarly, would the emberizing kit producer be responsible for the cost of the entire log? Of course, an actual determination of whose log was coated with whose emberizing material will be impossible in many cases, especially for those logs produced before the advent of non-asbestos embers. We know of at least one firm, however, that has not used asbestos in its emberizing kits for two years. It is clearly inequitable to require that or any other firm to subsidize those firms which have used asbestos by repurchasing emberized logs regardless of the ember's origin.
In any event, a total repurchase would be very costly to the firms in the industry, most of whom are small, and many of whom derive the majority of their revenues from gas log sales. Representatives of the Fireplace Institute and several of the firms in the industry have indicated that the basic objective of a CPSA Section 8 ban can be accomplished in 60 days with little or no adverse economic impact on the industry. It has also been indicated that, in the event of a total repurchase under FHSA or under Section 12 of CPSA, most of the firms in the industry could be expected to go out of business. This may have signifi cant adverse effects on regional employment (primarily certain areas in California); it certainly would have an adverse effect on the availability of artificial gas logs.
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Patching Compounds We have somewhat less information on the effects of
implementing Section 12 with regard to patching compounds. Again, the most immediate problem (with or without repur chase) is one of product, brand, and manufacturer identi fication and tracing. Most patching compounds are not content-labeled; thus, identification of items containing asbestos is difficult for wholesalers and retailers as we'1 as consumers. There is a relatively large number of retail Outlets and wholesale distributors for this type of mer chandise: there is concern on the part of some producers that their accounts will simply send everything back that has a given brand name, whether it actually contains asbes tos or not. This may have occurred already in some instances.
We believe that an order or rule under Section 27 requiring producers or asbestos-containing patching com pounds to report the brand names, batch codes, and estimated sales and inventories of such products to the Commission would be extremely valuable in identifying products subject to the ban. We know that the costs of an extensive recall/ repurchase campaign to the industry are likely to be sub stantial for some firms; identification of all firms and products involved will greatly improve our ability to assess the nature and magnitude of these and any other effects that may result from Section 12 actions.
yi Hv
1
TO FROM
UNITED STATES GOVERNMENT
Memorandum
'> >
U.S. CONSUMER PRODUCT
Safety' 'uummissiun
WASHINGTON, D.C. 20207
Francine Shncter, TAD/OSCA
l 3 `MAY 1377
date:
Through: Assoc. Exec. Dir. for Compliance and Enforcement
Through: Director, Division of Inf^riMtion and Enforcement \xs~
Charles M. Jacobson, BQI1
SUQJECT:
Commission Briefing on Proposed Ban of Patching Compounds and Artificial Fireplace Log Ashes Containing Asbestos
As we indicated in our memorandum of May 9, 1977, there are two aspects of the ban on the asbestos containing articles which are a concern to us from a compliance and enforcement standpoint. These are the questions of a prospective versus a retroactive ban and a finite level of asbestos at which products would be considered banned.
We would urge the Commission to propose that the effective date be prospective and ban only those products manufactured after the effective date. This is based on the considerations that the products which will be subject to this ban represent only a small portion of the consumers total exposure to asbestos fibers. Even with this ban in place, it is not going to reduce the consumer exposure to asbestos fibers from joint compounds which are already in place, fireplace log ashes which are already in use, asbestos from automobile brake shoes, and all other sources of occupational, environmental, and consumer product exposures to asbestos. We would also anticipate that through the rulemaking process of proposal, reviewing comments, promulgating a final order, with some future effective date that the affected industry will begin making the conversions fairly early, resulting in the amount of material on the market containing asbestos being significantly reduced by the effective date. To ban the offering for sale of anything after the effective date would result in a need to purge the marketplace from those limited numbers of items which may exist at that time. This would place a tremendous enforcement burden on the Commission in that we would have to enforce a ban which would stop thousands of retail outlets from continuing to sell products already on their shelves as opposed to the responsibility for seeing that only a limited number of manufacturers have ceased manufacturing these products. Even if we are successful in stopping all retail sales, we doubt that it could be demonstrated that in the total asbestos picture, there would be any significant amount of consumer protection attained over and above that which would be attained by stopping the manufacture and future marketing of these products.
*U.S. GOVERNMENT PRINTING OFFICE: 1974 7JJ-SJJ/K04 l-J
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Page 2
Another consideration in the issue of a prospective versus a retroactive ban is the nature of the hazard posed by asbestos. While an acute hazard may well warrant a retroactive banning situation, a chronic hazard, based upon long term exposure, would not appear to justify a retroactive ban. It is doubtful that the economic impact upon the industry or serious resource committment on the part of the agency to enforce a retroactive ban is justified if in fact the hazard presented by asbestos is chronic rather than acute in nature. An examination of our experiences with Tris may be helpful in ascertaining practical problems with a retroactive ban involving a chronic hazard.
Since asbestos is a ubiquitous mineral which appears in many forms and is derived from many sources, we would suspect that almost any product could have the potential of at least carrying some asbestos contamination even though asbestos is not added as an ingredient. Therefore, we feel that the final ban on the above mentioned products containing asbestos should be based on some finite level of asbestos at which they will be defined as banned. We are not aware of how this could be defined at this time. However, we do not fed that that is reason to hold up the proposal of the ban. If we have no level available to include in the proposal we would then suggest that the proposal solicite comments from interested parties in an attempt to establish such a level in the final order.
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Cong!`C>& of tljc cLTm'tcb Stales
We are deeply concerned that the Consumer Product Safety Commission, in finally commencing action against asbestos-containing spackling compounds, decorative fireplace ash, and tremolitic Calc, elected not to ban these products immediately under authority provided by the Federal Hazardous Substances Act, choosing instead to proceed under the Consumer Product Safety Act, a much slower process.
In our view, the proven correlation between exposure to small concen trations of airborne asbestos and the development of lung cancer and meso thelioma amply justifies classification of these products as an "imminent" hazard to the public health" and warrants their immediate ban under Section 2 (q) (2) of the F1ISA.
We understand that it was the feeling of a majority of the Commission that regulatory action under the CPSA, while slower, would be less susceptible to legal challenges, and thus that the decision does not necessarily represent a determination chat these products do not constitute an "imminent hazard."
We hope this is the case and strongly urge the Commission, since it chose to proceed under CPSA authority, now to seek an immediate ban from the courts under authority provided in Section 12 (Imminent Hazards) of the Consumer Product Safety Act. We would appreciate further clarification of the Commission's position on the "imminent hazard" issue as it relates to consumer products containing asbestos and, in particular, would like to know whether the Commission is considering initiating legal action under Section 12.
We would also be grateful for information as to what steps the Commission is taking to seek out and evaluate hazards presented by other products containing asbestos -- brake linings, modeling compounds, wallboard and textured paints, for example. Given the authority to seek an immediate
> ban under Section 12 for those products known already to bo unreasonably hazardous, it would seem irresponsible to spend months, possibly years, developing a final standard under CPSA for only a few products, while leaving many others in the same category untouched.
cc: All Commissioners
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Georgia F&cific
Jfr.
intracompany memo
to Mr. T. F. Mitchell
from
J. M. Peters
subject CPSC Proposed Ban - Asbestos
location Washington, D. C.
location Washington, D. C.
date
May 26, 1977
Attached is the material I picked up today at the Consumer Products Safety Commission consisting of the following:
1. Rough draft of proposed banning rules on asbestos. 2. Staff background materials on proposed rules. 3. May 19, 1977 letter from Congressman John E. Moss (D-CA) critical of the procedure CPSC is using to ban asbestos.
et al which is
It is my understanding that Kip talked with Sheldon Butts, the CPSC Assistant Secretary, today and was advised the Commission will put the asbestos rule on the agenda for their next formal hearing. This may indicate they will attempt to expedite the rulemaking.
JMPrms Attachments
/: / J. M. P.
RECEIVED BY
JUN 02 1977
GYPSUM DIVISION
Gf 09
r
I
UNITED STAfCti GOVERNMENT
Memorandum
U.S. CONSUMER PRODUCT
SAFETY COMMISSION
WASHINGTON. D. C. PG207
TO The Commission
/?9^
date: May 23, 1977
Through: Office of the Secretary
Through: Margaret A. Freeston, Deputy General Counsel
Beatrice C. Pitkin, OGC i
subject: Asbestos -- Proposed Ban
The attached is a very rough draft of a proposed ban under section 8, CPSA for consumer patching compounds and fireplace ash containing respirable, free-form asbestos. The draft is transmitted for review prior I to the staff briefing of the Commission on Wednesday, May 25, 1977.
i s Although this draft is composed of materials contri I buted by various bureaus and offices, none of these i staff units have had an opportunity to review this
draft. Several bureaus and offices have not completed the materials to be contributed to this proposal. In addition the format of the notice is not firmly set. The purpose of this draft is to give the Commission an i idea of the scope of the proposal, to raise questions, i and to obtain guidance from the Commission on further preparation of the proposal.
w
In reviewing the draft, the Commission will note that among the matters needing Commission guidance are:
(1) Effective date - BEA is currently exploring application of the ban to goods manufactured, 30, 160 and 3C0 days after publication of a final rule. A retroactive ban is also possible.
(2) Definitions - It may be that several more products could be defined as consumer patching compounds.
(3) Banning criteria - Technical information is needed on how to detect and/or test noncomplying consumer products.
(4) Compliance strategy - Commission guidance is needed on measures to be used for determining specific products that may be covered Lv the proposed ban. Under section 27 of the Cil;A the Commission can obtain information
lINV.rNI fHIMINL OF! i*. |*/ 7^
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omjh._ganeral orders,-specioJ. orders, (to-named, persons) fi'dipoenas, and rulemaking. In addition to determining v/iio manufactures the products proposed to be bannc-d, < I m Commission may use information obtained under section J / as to what other products contain respirable, free form asbestos.
(5) The Bethesda Office will transmit backup Information developed by the staff as soon as possible.
^1 Lachment
CONSUMER PRODUCT S/U'ETY COMMISSION Respirable Tree-form Asbestos
PROPOSALS TO BAN TWO CONSUMER PRODUCTS
AGENCY: Consumer Froduct Safety Commission. ACTION: Proposed banning rules. SUMMARY: In this document, the Commission proposes to ban two consumer products containing asbestos that can be inhaled (respirable, free-form asbestos): (1) consumer patching compounds, including asbestiform tremolite, used to join or repair walls and ceilings. (Sanding of the product after it is applied releases asbestos fibers that can be inhaled); (2) Artificial fireplace logs and ash made with respirable free form asbestos for use in fireplaces to simulate log embers and ash. The Commission is proposing the bans to eliminate or reduce the risk of asbestosis or cancer that may result from inhaling these substances. DATES: The proposed effective date of the bans is
days after publication of any final banning rule. Comments must be submitted by (insert date 30 days after publication of the proposal in the FEDERAL REGISTER). There will be an opportunity for interested persons to orally present data, views, or arguments onat .
Those wishing to make oral presentations should notify tho_Office. of...the Secretary..by ...................................... .......________ /iDDP.ESSES: Written comments should be submitted to the Secretary, Consumer Product Safety Commission, Washington, D.C. 20207. Persons wishing to make oral presentations should contact . in the Office of the Secretary (202) 634-7700. All material which the Commission has that is relevant to this proceeding, including any comments that may be received on this proposal, may be seen in, and copies may be obtained from,'the Office of the Secretary of the Commission, 3rd floor, 1111 18th Street, N.W. , Washington, D.C. FOR FURTHER INFORMATION CONTACT: Francine Shactcr, Office of the Executive Director, Consumer Product Safety Commission, Washington, D.C. 20207 (301-492-6550). SUPPLEMENTARY INFORMATION: Commission decision. After consideration of three petitions concerning respirable free-form asbestos in consumer patching compounds and in artificial fire'place ash and logs, as well- as other information presently available to the Commission concerning respirable free-form asbestos, some of which is noted in this document, the Commission has concluded that these products should be banned. In addition, the Commission has directed the staff to investigate what other consumer products contain respirable asbestos.
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[describe petitions] Although these petitions were filed under the
Federal Hazardous Substances 7ict (FlIS/v) , 15 U.S.C. 12G1, et seq., and it appears that the risks of injury from carcinogenicity described by petitioners are regulatable under the FIISA, the Commission proposes to ban these products under the Consumer Product Safety Act (CPSA), 15 U.S.C. 2051, et seq. Section 30(d) of the CPSA, 15 U.S.C. 2064(d), as amended, provides that a risk of injury associated with a consumer product which can be eliminated or reduced to a sufficient extent by action under a transferred Act such as the FHSA, may nevertheless be regulated under the CPSA if the Commission, by rule, determines that regulation under the CPSA is in the public interest. The Commission preliminarily finds that is is
` issv!i in the public interest to dtre-ia-re this ban under the CPSA.
The Commission also preliminarily determines that consumer patching compounds containing respirable free form asbestos including asbestiform tremolite, and artificial fireplace ash and logs containing respirable free form asbestos are being and will be distributed in commerce that they present an unreasonable risk of injury to the public due to carcinogcncity, and that no feasible standard under the CPSA would adequately protect the public from the unreasonable risk of injury associated with these
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product?;. Therefore, in accordance v/jth section H of the CPSA (3.5 U.S.C. 2057), the Commission proposes that these products be declared banned hazardous products
The petitions, relevant scientific and technical information, and Commission conclusions are more fully described belov;.
BACKGROUND
"Asbestos" is a general term for any of several
varieties of mineral fibers composed of silica, oxygen,
hydrogen, and other elements such as sodium, calcium,
iron, or magnesium. The
is derived from the ancient
Greek term for "incombustible". There are six basic
varieties of asbestos minerals which are found in fiber
form: chrysolite (the most common variety, and that
ordinarily found in asbestos-containing products), antho-
phyllite, amosite, crocidolite, actinolite, and tremolite
Most of the world supply of commcrical asbestos is
chrysotile, the fibrous form of serpentine. Asbestos has
*
a variety of industrial uses related to its heat and
moisture resistance.
Asbestos fibers are used in patching compounds to
reinforce the material as it cures, to control shrinkage
and cracking, and as the compound is alternately exposed
to heat, cold and moisture after curing. Asbestos also
provides a measure of sound and heat insulation to the
material, and enhances the workability of the compound,
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particularly during troweling. .The following properties arc strongly considered by industry in the preparation of patching compounds: Asbestos is not affected by fungus, mildew, vapor, etc.; it has low density, good absorption qualities, high electrical resistivity, fire resistance, resistance to alkalincs, low magnetic permeability and it not a smooth fiber. Medical consequences of using asbestos.
[This will come from BBS and will be based on epidemiological literature in addition to the summary below:]
The inhalation of asbestos dust has been associated with the production of a variety of diseases, namely asbestosis (fibrotic,non-malignant scarring of the lungs), mesothelioma (cancer of the chest wall or abdominal lining) and cancers of the lung and digestive tract. Asbestosis and asbestos cancers usually dc noc become clinically evident for more than 20 years after initial exposure. Variation in the time of occurrence of these diseases
** may depend on the intensity and duration of exposure and on individual sensitivity. [(OMD, memo, 7/30/76)]
Mesothelioma, as well as other cancers and even asbestosis can result from mild intermittent exposure to asbestos. Among the many reported cases of mesothelioma following short, non-occupational exposure to asbestos
-5-
include cases which followed exposure to dusty (asbestos)
clothes in the homos of person with reported mesotheliomas,
many of whom had worked or lived near an asbestos plant
and also included members of families whose relatives
worked in asbestos plants. [ (BBS, Tab B--8) ]
Based on clinical and epidemiological data collected
over many years, it is generally accepted by medical authorities
that heavy exposure to asbestos dust over prolonged periods
or intense intermittent exposure as encountered in certain
occupational situations has been associated with the
development of asbestosis as well as cancers of the lung
and digestive trace and of mesothelioma.
Other agency actions to regulate exposure to asbestos.
The Occupational Safety and Health Administration
of the Department of Labor (OSHA), the Food and Drug
Administration (FDA) and the Environmental Protection
Agency (ErA) each has a responsibility to regulate
exposure to asbestos.
OSHA regulates exposure to asbestos by workers
in all industrial and commerical settings except agri
culture. The regulation (29 CFR
) permits exposure
not to exceed contact or inhalation potential of ambient
air containing more than five fibers five micrometers
in length per cubic centimeter of breathing air over an
eight-house time weighted average limit. In 1975, OSHA
proponed an amendment to lower exposure to .5 fibers per
cubic centimeter of breathing air.
L' ~
FDA lias banned the use of asbestos in filters used
in the formulation of parenteral drugs (21 CFR
)
-...andprior, to the establishment .at. the. Consumer. Product-.........
Safety Commission, banned the use of asbestos in fabric
used for general wearing apparel. (21 CFR
)
EPA regulates asbestos which is released into the
air and into the water. These regulations ( CFR
)
do not set standards for allowable amounts of asbestos
in the breathing air but rather minimize or eliminate
emissions from industrial locations. These regulations
specifically prohibit the present of asbestos in emissions
from plants manufacturing materials for use in building
roadways and in manufacturing items such as cloth, textiles,
cement, fireproofing and friction products, paper, felt,
flooring materials, pain'.s, adhesives, sealants, caulks,
and a variety of other items.
Const)mcr use of asbestos.
[The staff is accumulating information on respirable
free-form asbestos in consumer products.] The proposed
ban covers the following products:
Consumer patching compounds: Patching compounds
are mixtures of talcs, pigments, clays, casein, ground
marble, mica or other similar materials with water and a
binding material such as asbestos. Patching compounds
is sold in a dry form (.to be mixed with water by user)
-7-
or a ready mix pacta form. It ir; used to cover, seal or mask cracks, joints, holes and similar openings in the trim, walls, ceilings, etc. of buildings. After drying it is sanded to a smooth finish. (See also the definition at section 1304.___ of proposed rule.)
In consumer patching compounds, asbestos is released in-one of two ways: either when using the dry form and mixing it with water or by sanding or scraping the dried patching compound in the process of finishing and smoothing the surface or during demolition.
Artificial fireplace ash. Artificial fireplace ash is a material containing asbestos placed under logs in gas-burning fireplace systems or in artificial fireplaces for decorative purposes. The asbestos material may also be glued to logs or artificial logs. V7hen subjected to high temperatures, the material glows like real embers and ash.
In fireplace logs, asbestos fibers might be released when they are attached to the logs with ordinary household glue which melts at high temperatures or the asbestos in the material scattered under the logs to simulate ashes could become airborne as a consequence of air currents and down drafts generated in the house and near the firep3ace. (See also the definition at section 1304.___ of proposed rule.)
-8-
IIP 76-13 (consumer patching compounds containing respirable asbestos): On July 15, 1976, the National Resources Dcfcn.se Council (NRDC) and Consumers Union (CU) petitioned the Commission under the FHS/\ to ban consumer patching compounds containing asbestos that are used for drywall taping, spackling and sealing of joints. The petitioners believe that high quantities of asbestos fibers remain in the air after these products are sanded and that the fibers substantially increase the risk of mesothelioma and lung cancer.
UP 77-9: On February 9, 1977, the Public Citizens Health Research Group (HRG) petitioned the Commi ssior, under the FHSA to declare that tremolitic talcs containing asbestos fibers (asbestiform tremolite) are banned hazardous products and an imminent hazard to the public health.
HP 77-11: On April 15, 1977, a request from Ms. Rachel Scott that had been investigated as a consumer complaint was jointed by the Environmental Defense Fund (EDF). The Commission designated the requests a petition to ban the use of artificial fireplace as containing respir able free-form asbestos. This product is used on artificial logs and on fireplace floors beneath them to simulate embers and ashes.
-9-
Most of the risk and injury information reviewed by Commission staff in response to these* petitions deals with occupational exposure. In addition recent clinical evidence suggests that low levels of exposure to asbestos dust can product asbestos cancers. These levels are much lower than encountered in occupational situations and lower than known to cause asbestosis. Specifically, adverse effects have been known to occur in family members of asbestos workers, persons living near asbestos plants, individuals having brief work exposure to asbestos, and those only indirectly exposed to asbestos by working in the same general area. (O.MD memo, 7/76)
[at this point we need to plug in some information from the literature on deaths from asbestos exposure either from BBS or OMD. It should tell" that most of the data on the risk of exposure comes from industrial data but that there are numerous incidents of death from mesothelioma, a cancer caused only be asbestos, after more limited exposure and link this with the exposure of consumers] The data on asbestos insulation workers indicate that after a 1-year exposure of approximately 10 to 20 times
-10-
that projected for frequent consumer use of spachling or joint compounds (the bureau of Economic Analysis _ .projection, is. 4. tiroes, during. one. year,. heavy, exposure) ,......... there are no additional lung cancers during the first 20 years of follow-up than might be expected normally (relative risk equals 1.0). At levels of exposure 40 to 80 times that of projected consumer exposure, the relative risks are 1.3 and 2.5 respectively during the first 20 years (Enterline and Henderson, 197G).
* ********
Decision to regulate under CP5A. The Commission considered, upon review of all the
information presently available to it, that the products in question should be regulated. Consideration was initially given to banning these products under section 2(a)(1)(B) of the FHSA since it appeared that the statutory require ments for regulating these products under FHSA could be met and it appeared that the hazard presented by these products could be sufficiently reduced or eliminated under FHSA. Under the FHSA, however, a person affected by a regulatory decision may file objections and if valid objections are filed an evidentiary hearing would be conducted, in accordance with section 701(e) of the Federal Food, Drug, and Cosmetic Act . The nature of a "701(c) hearing" (see 21 U.S.C. 371(c) and 21 CFR 2.48 et seg.) is very time-consuming and a regulatory action
-11-
would be hold in abeyance during the pendency oi the 701(e) proceeding.
In considering alternative regulatory action, the Commission noted that section 30(d) of the CPSA (15 U.S.C. 2079(d)), as amended by the Consumer Product Safety Commission Improvements Act of 3976 (Pub. L. 94-284; 90 Stat. 530), provides for certain regulatory actions to proceed under the CPSA rather than the FHSA and reads as follows:
(d) A risk c? injury which is associated with a consumer product and which could be eliminated or reduced to a sufficient extent by action und^r the Federal Hazardous Substances Act, the Poison Prevention Packaging Act of 1970, or the Flammable Fabrics Act may be regulated under this Act only if the Commission by rule finds that it is in the public interest to regulate such risk of injury under this Act. Such a rule shall identify the risk of injury proposed to be regulated under this Act and shall* be promulgated in accordance with section 553 of the Title 5, United States Code, except that the period to be provided by the Commission pursuant to sub section (c) of such section for submission of data, views, and arguments respecting the rule shall not exceed thirty days from the date of publication pursuant to subsection (b) of such section of a notice respecting the rule.
-12-
Section 9 of the CPS/, which governs the issuance of consumer product safety rules requires that notice of a proposed rule be published in accordance with 5 U.S.C. 553. In addition, any interested person must be provided an opportunity to make an oral presentation of data, view?; or arguments on the rule.
Therefore, in order to save the time that would be expended in a 701(e) hearing under FI1SA and since full provision for public notice as well as written and ora] comment is available under CPSA, the Commission, in accordance with the provisions of section 30(d) of the CPSA, as amended, finds that it is in the public interest to regulate these products under the CPSA. (The Commission seeks data, views and .arguments from the public on this Commission finding. Such comments should be made in writing and forwarded to the Commission's Office of the Secretary. Section 30(d) of the CPSA, as amended, requires that comments made on this Commission finding that it is in the public interest to regulate those products under
\^ the CPSA, must be made within 30 days of this publication date.)
The Commission preliminarily determines in accordance with section 8 of the CPSA which sets forth the findings that must be made to ban consumer products under the CPSA, that consumer patching compounds and artificial fireplace ash containing respirable free-form asbestos arc being and
-13-
will be d j v. tribul.ed in commerce. having cone] uded from materials available to the Commission that these products are-associated. v/itk the--hazard- of carcinogenicity, thrv Co:nmission preliminarily determines that these product?; present an unreasonable risk of injury to the public. Presently available information (cite 03HA, NCI data) indicate that a safe threshhold level of respirable free-form asbestos is unknown (add here more information on no feasible standard from BES) . Therefore, the Commission believes that no feasible consumer product safety standard under the CPSA can adequately protect the public from the unreasonable risk of injury associated with these products and the Commission proposes to issue this rule declaring that the consumer patching compounds defined at section 1304.___ and the artificial fireplace ash defined at section 1304.___ are banned hazardous products.
SUMMARY Or PROPOSAL Need information from BPS, BCM Proposed banning criteria. (Need input from BES, BCM) Test. (Lemberg, Shacter)
Jadustrv rcc,\jrcc__ro)is idum 1 j o;v. A wide range of cconcmic cL'ccts may result from a
Commission banning action which affects some or a]], of the above product classes. The Commission has already voted to ban free-form asbestos-containing artificial fireplace ashes and patching compounds. The following issues are being investigated with respect to both the proposed ban and the Commission's.options concerning the other product groups:
Identification of types arid numbers of products subject to a ban. In order to assess the economic effects of a ban, wo will have to determine the exact nature and number of products subject to the ban. Some figures on artificial fireplace logs and patching compounds are or will soon be available, but we have little or no information on the other categories. We suspect, however, that a ban on paints, coatings, and wallbonrd containing asbestos would have far-reaching implications.
Assessment of substitutes. We currently know of two substitutes for asbestos in fireplace ashes, and at least two in patching compounds. Questions concerning the relative safety of these substitutes have not yet been resolved. Some substitutes for asbestos such as steel and glass fiber have apparently been tested for use in wallboard and paints (primarily as a result of OSllA's efforts to limit exposure to asbestos in occupational
-15-
'settings), but''with limited succors. Substitution may also lead to higher costs and prices from some of these products. Some firms (including some manufacturers of patching compounds) may not yet have the techniccil capability to reformulate their products without asbestos; many paint and coatings producers are, however, cither presently marketing asbestos-free foundations or expect to in the near future.
Cost and Price Effects. The actual cost to most patching compound and gas log manufacturers of chemically reformulating products or simply substituting another material for asbestos is not expected to be large; it is, however, expected that some cost increases will occur which will likely be passed on in the form of higher prices (for patching compounds this may be as high as 10-15 percent, according to an economic study prepared for QSHA). Wo expected that substitute paint formulations and substitute wallboard products will be somewhat more expensive than those containing asbestos but we have no specific information on probable percentage increases at this time.
Other effects. The principal adverse effect of the use of substitutes for asbestos in these classes of products will probably bo on the utility of the products. Asbestos possesses a unique combination of strength,
-1G-
pliability, and heat, co]d, and moisture-res' 1 ,'"1
qualities; substitutes v;hich have Ix'tin testo <> 1,1 1
"
product categories often do not last as long,
'* '
workable, and may take a long time to perfect (.ir>I:* " "
free spackling compounds v/ere at least five y 11 111 development). Some products not readily rc t1 ",n 1111'1''
may be dropped from the market. Availabil.i' y
:11'':' l,u,<
products may also be limited temporarily on ' ''"l'"11,1*
i I
basis, depending on the paint and building n;-*1 ' 1 1 ' industries' ability to reformulate asbestos-c< "! ' 1111
products.
Effective date. Inventories of existing in distribution channels may vary from very ; :<u. i t l ('I-# a few small manuf acturc-rs ' inventories of i;:< -vie I i u<i cb'y)
to very large (e.g., thousands of retailers' >,lV'11 " 11 of paint products) . Similarly, inventory tui",,v''1 *1 at variou.-. point's in distribution- may vary con1-* * I*'1 '* 1' A set of effective dates may be desirable. /\ 11 * * n.11 ' v* several individual'ban could be proposed unde* ;,,`C*',,M ^
Of the CPSA on a product-by product basis ruihci I h.m
one general ban. All of the above considerations may bo tut<hc
affected by OSIIA's course of action on asbost . nlinulil
a commorcial/industrial use ban be imposed, the ituluplt'i will probably eliminate asbestos from all cor.-'Uii-ci p.tt<hini
-17-
compounds, paints, and y.yj] lboord product:; ns we 11 i nee
consumer sales constitute such a small percentage (probably under 5 percent) of tool building material `-.ales. This v/ould, of course, minimize the marginal impact of a CTSC ban on similar'products. On the other hand, certain patching compounds in container sizes intended for sale to"commercial users, i.e. , contractors, may be construed to be "consumer products" (and therefore banned if they contained asbestos) since they are available in some retail stores. We expect that publication of a proposed ban in the.FEDERAL REGISTER, will prompt a great deal of comment, providing us with further specific information on the potential economic effects of such a ban.
Envi romn.cntal issues. The Commission has begun the study of environmental effects of this proposal as required by the National Environmental Policies Act. The Commission requests comment on other environmental issues as well as those raised here.
/Asbestos is a' ubiquitous mineral fiber that has been used for many years in the U.S. in occupational settings (primarily building construction). This has led to lowlevel, but widespread consumer exposure. /vsbestos is found in the air, water, and land (in minute concentrations rela tive to those found in or near asbestos minor or processing facilities).
-18-
Tilt- eJ .inline:Lion of asbestos from concui;:(.-r patchJ ng compounds will reduce* c*n vi ronracn to 1 asbestos fiber re-]vase from all patching compounds by less than 5 percent. This constitutes a negligible percentage of all asbestos fiber release'. Disposal of present inventories is also expected to pose no significant problems since it would account for a miniscule portion of all asbestos disposal. Similar the elimination of asbestos from gas log cmfcerizing kits is not expected to reduce free fiber emissions significantly either nationally or regionally (most of the manufacturers are located in California). Further, the staff is issuing guidelines to minimize consumer exposure to floating fibers during cleanup and disposal of embers. Thus, no significant effects are expected from the ban itself.
The potential environmental (i.e., health) effects of the use of substitutes, is however, an issue which needs further study before we can prepare a complete environmental assessment. To the best of our knowledge, there are two currently-availab]e substitutes for asbestos in artificial fireplace ashes, and two substitutes for asgestos in patching compounds. We currently have no information concerning the safety of the ember materials (one is a synthetic fiber and may be similar in shape and size the asbestos), /animal testing is underway to develop a body of knowledge about the patching compound
-19-
i tut r::;; no cnnc.l ns ions about their safety have* yet boon nude. Thus, although v:o cannot show evidence that the known substitutes arc hazardous, v.'c also cannot show evidence that they are not.
This discussion is linked to the notion that specific chronic hazards policy decision may become necessary on the question of how the Commission wishes to treat potential or suspected, but not proven, carcinogens and other long-term or chronic health hazards. More laboratory testing may be desirable before regulatory decisions on substitutes are made.
Effective date considerations. The Commission staff is currently assessing the probable effects on the relevant industries or effective cates of 30, 180 and 360 days after publication of the ban in the FEDERAL REGISTER. It appears that many of the gas log manufacturers have already caused shipment of asbestos-containing me--chanJise. We expect that the gas log manufacturers can produce complying (non-asbostos-cont^aining) merchandise for shipment in a relatively short period of time (perhaps 30 days after publication) with less disruption of manufacturing and mar keting practices than can those manufacturers of patching compounds who have not reformulated their products. Both groups, however, may have considerable difficulty in tracinq their products through the channels of distribution, which often may be long and complex. We know little about the
-20-
current static of inventories at various levels of distri bution at this time. Wc arc attempting to determine typical turnover cycles, etc., as we further define the products to be covered by the ban.
Wo are also assessing the potential effects of a propscctive versus retroactive ban (i.e., one applicable to-products in distribution channels as of the effective date). A retroactive ban would probably result in greater total cost to an disruption of the industry than a prospective one. Further consideration of the potential benefit to the public of a retroactive ban is needed. We have no information to indicate that a retroactive ban would significantly reduce total annual fiber release. The Commission seeks further comment on this natter.
FINDINGS The CPSA requires that before issuing a consumer product safety rule, the Commission make certain findings. Although section 9(c) of the CPSA does not require
% that those findings be made when a proposal is published, the Commission is publishing the preliminary findings set forth below to assist in making findings in any final rule the Commission issues.
(a) The degree and nature of the risk of injury. To be submitted by BBS and the Medical Director.
-21-
(b) The approx-im..te number of conrumcr product r; ( Q' ty) -ior; or c3.asser. thcrcof,__si ibjcct to the bon.
This ban. covers two ha .sic kinds of consumer products: artificial fireplace ashes, and patelling compounds, including tape joint, speckling, and caulking compounds, crack patches, putties, and other substances intended for use in'patching, masking, or sealing cracks or holes in walls, ceilings, etc.
The Commission estimates annual sales of artificial gas logs or emberizing kits potentially subject to the ban at 25,000-30,000 units, assuming a sales rate of one emberizing kit per log. Some of these logs come "frosted1' with asbestos, in which case the entire log would bo banned; others come packaged v.'ith emberizing kits including; still other are sold independently of the emberizing kits.
The Commission is currently investigating the category ^r products calle:d "patching compounds" to deter mine which products should properly fall in that category and how many units* of production and inventories might be subject to the ban. There may be millions of individuals units of product in distribution which would be banned.
(c) The need of the public for the consumer products subject to the ban, and the ban's probably effects upon the utility, cost of availability of such prodnet;; to meet such need.
-22-
k
/-.rtificiul fircj.'Jace avisos nerve a decorative purpose, and do not materially affect the actual per formance of the locj, its eras jets, or its ability to provide heat. There is a certain aesthetic desirability, however, since the product (the gas log, ashes and embers) is intended to simulate something, i.e., ci real burning log. To the extent that artificial emberizing material enhances consumers' enjoyment of the product, there is some perceived need for the material.
Patching compounds, though used primarily by commercial construction workers, are also used by con sumers, and are used for the patching and sealing cf holes, cracks, etc., in and around the household. As such they are thereby subject to consumer maintenance, including sanding or cutting, regardless of who the installer was. The compounds are used to cover holes and cracks which might otherwise lead, to structural damage, energy loss, and lower property value. Not all patching compounds contain asbestos. In those that do, asbestos is used as a strutural reinforcing agent. There are not substitutes for patching compounds in these applications.
The elimination of asbestos from these products will necessitate the use or development of substitutes which have similar properties to those of asbestos, or
-23-
which impart simi.l nr qualities to the product. There are two known substitutes for asbestos in artificial fire place ashes. The use of these substitutes in already growing in the industry; it is not expected to affect the utility consumers derive from the product. One substitute's reported ccst to producers is about ten times that of raw or milled a.nbostos fiber. This may lead to a price rise for seme separately-sold emberizincj kits (which currently sell for about $3-$5). This is not expected to affect significantly the price of frosted gas logs, however, since the "frosting" constitutes a negligible percentage of the cost of the item. No effect on the overall price level of cios logs is anticipated. Neither the availability of the asbestos substitute to producers nor the availability of non-asbestos-containing logs and emberizing kits to consumers is expected to be restricted significantly by the imposition of the ban.
We currently are aware of two substitutes for asbestos in patching compounds. Some industry sources have reported that at this time the substitute formulations are not as effective as asbestos-containing formulations in controlling shrinkage and cracking over a period of several years. The pliability of some compounds may be diminished somewhat as well. This may adversely affect the utility derived from the product by consumers until such time as
-24-
improved substitutes ore developed and are available to consumers. The use of substitutes is not expected Lu havtr'u bearing On LnO other" p.tOper Lies "of patching' compounds (e.g., color, smell, snndability, etc.). 7'. study performed for OSH/\ on the effects of reformulating certain kinds of commercial patching compounds estimated at, 12-13 percent price increase associated w.ith that reformulation. Similar increases may occur in the consumer segment of this market for some products; other products, there may be smaller or larger increases (if any). Prices currently vary over a fairly wide range among and between products; thus, direct price comparisons of asbestoscontaining versus non-asbestcs-containing brands may not be useful at this time. The availability of asbestosfree patching compounds may bo restricted to some extent. Ue are currently investigating alternate effective date recommendations. It appears that those patching compound manufacturers whose products are already asbestos-free may have a temporary competitive advantage (in terms of availability in distribution and to consumers) over those firms whose products will have to be reformulated.
(d) liny means of achieving the objective of the ban while minimizing adverse effects on competition or disrun or di y, location of manufacturing and other commercial practices consistent with the public health and safety.
-25-
rf
The primacy method by Which the Commission cam minimize any adverse effects of the ban is to adjust the effective date. As discussed above, the cost and availability of substitute patching compounds may be significantly affected by the chosen effective date. The Commission is currently considering effective dates of 30, 130, and 3G0 days after publication of the ban in the FEDERAL REGISTER. A date will be chosen which reasonably considers the potential effect of a delay on the public health and the relative economic impact of such a decision on the industry and on consumers.
CONCLUSION Ah'P PROPOSAL Based on the foregoing information, the Commission proposes to declare that consumer patching compounds containing respirable, free-form asbestos and artificial fireplace ash containing respirable frcc-form asbestos arc banned hazardous products. (Phrase needed hero on separability). Accordingly, 'pursuant to provisions of the Cl'SA (sections 8, 9, 30(d), 86 Stat. 1215-17, 1231 as amended, 90 Stat. 50G, 510; 15 U.S.C. 2057, 2058, 2079(d)), the Commission proposes that Title 16, Chapter II, be amended by adding to Subchapter B the following new sections 1145.3 and 1145.4 and Part 1304.
-26-
Suc'tJ on 1145.3 Consumer patching compounds c< >n l a i n irrj rcspi).eb] c , free-form asbestos
(a) The Commission finds that it is in the public interest to regulate the risk of carcinogenicity from comsumer patching compounds under the CPSA rather than under the FHS7v because of the undue time that would need to be expended for an evidentiary hearing required by the FHSA upon filing of objections by adversely affected persons. The Commission finds that regulation under the CPSA provides ample opportunity for interested persons to present data, views or arguments, both .oral and written while protecting the public in a timely fashion from the unreasonable risk of injury associated with consumer patching compounds.
(b) The consumer patching compounds described in section 1304.___ and defined in section 1304.___ are the subject of this rule.
Section 1145.4 Artificial fireplace ash containing respirable, free-form asbestos
(a) The Commission finds that it is in .the public interest to regulate the risk of carcinogenicity from artificial fireplace ash containing respirable, free form asbestos under the CPSA rather than under the FHSA because of the undue time that would need to be expended for an evidentiary hearing required by FHSA upon filing of objections by adversely affected persons. The Commission finds that regulation under the CPSA provides
-27-
ample opportunity for interested persons t:o present data, viov;s or arcjuir.cnts both on;] and written while protecting the public in a timely fashion from the unreasonable risk of injury associated v;ith artificial fireplace ash containing respirable, free-form asbestos.
(b) The artificial fireplace ash defined at section 1304.___ is the subject ot this rule. * it ' it it it k k k k
Part 1304.___BANNED HAZARDOUS PRODUCTS CONTAINING ASBESTOS.
Section 1304.1 Scope and application. In this Part 1304 the Consumer Product Safety
Commission (Commission) declares certain consumer product containing asbestos and designed for use in such a manner tha'i* the asbestos fibers can become airborne under reasonably foreseeable conditions of use to be banned hazardous products under sections 8 and 9 of the Consumer Product Safety Act (CPSA) (15 U.S.C. 2057 and 2058.)
* This ban applies to (1) patching compounds which are sold to consumers to cover, seal or mask cracks, joints, holes and similar openings in the trim, walls, ceilings, etc. of buildings, which after drying are sanded to a smooth finish; and (2) artificial fireplace ash which are sold along with artificial fireplace logs to be installed in fireplaces and sprinkled or coated with
-28-
the meteriaI or hcvu the? materia] sprint..- ed beneath the artificial logs to simulate ashc.-s and to give the appearance of gloving (referred to in the trade as crnhor.izjny) . In addition, bags of material containing asbestos and sold separately to be sprinkled on and under gas fired logs to simulate burning and glowing ashes come within the scope of this ban.
Section 1304.2 Purpose. The purpose of this rule is to ban consumer patching
compound`j containing respirable, froc-form asbestos, including asbestiform tromolite, and artificial fireplace ash containing respirable free-forrn asbestos. These products present an unreasonable risk of injury due to inhalation of fibers which increase the risk of developing asbestesis and mesothelioma, diseases which have been demonstrated to be caused on by be exposure tomsbostos fibers.
Section 1304.3 Definitions. (a) The definitions in section 3 of the Consumer
Product Safety Act (15 U.S.C. 2052) apply to this Part 1304.
(b) "Asbestos" means a group of mineral fibers composed of silica, oxygen, hydrogen and other elements such as sodium, iron, magnesium and calcium in diverse combinations and includes the following asbestiform minerals;
-29-
tr oiiiol.i to, chrynoti1o, croc idol i to, antbophyll il.o, ainosite, and actinolite.
(cj ... ."Free-form asbostos" i s_ that, wh ich _ is ..not bound, woven, or otherwise " lockcd-in" to a product by resins or other bonding agents, or those from v;hich fibers can readily become airborne with any reasonable foreseeable use.
(d) "Patching compounds" are mixtures of talc, pig'inents, clays, casein, ground marble, mica or other similar materials with water and a binding material such as asbestos which are sold in a dry form ready to be mixed with water or a ready mix paste form.
(e) "Artificial fireplace ash" is a material containing asbestos sold to be pi.iced under artificial gasj/ logs or glued to the logs and which is designed to simulate ash and glowing embers.
Section 1304.4 **
Findings. *
*
Section 1304.5
**
% Banning criteria,
**
Section 1304.6 Testing. ***
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Section 130A.7 effective doto
* ******
Dated: 'KICHARD PAPJ'S , Socretai y Consumer Product Salety Commission
%
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