Document nkGN2Ov00gBObbbXpQ72w4R8m
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JOSERM t KELLER
JEROME H HECKMAN
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Terrence O JONES
MARTIN w. BERCOV'Ct
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WILLIAM L KOVACS
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KATMONO A. KOWALSKI* MICHAEL F. MONNONE
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Christine m. oill MELVIN S. DROZEn
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LAWRENCE R HALRRIN
October 20, 1993
RALRH A. SIMMONS RCTCR A. SUSSCR C. OOUOLAS JARRCTT Sheila a. millar RATRlCK j huro GEORGE O MiSKO OAREN c. OODOE DAVID I. RCAOCR S. CRAIG TAUTPCST MARK A SICVCRS MICHAEL A. SENNET THOMAS R MOUNTCER DAVID G. SARVADl* CATHCRINC R. NIELSEN KRIS ANNC MONTCITH ELLIOT SCLILOS MARK L. ITZKOrr JCAN.RHILIRRC MONTPONT'O ARCHIC L. HARRIS. JR BRIAN T ASHBY T. RMILLIRS SCCK
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LESLIE C. SILVERMAN FRANK C. TORRES III BRYANT ROBINSON III JOSEPH M SANORl, JR ELIZABETH F. NEWBILL'O
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SCIENTIFIC STAft DANIEL S. DlXLER. Rh. O. CHARLES V. BRCDCR. Rh. D ROBERT A. MATHEWS. Rh. O. JOHN R. MOODCRMAN. Rh. O. MOLLY HUTMIRC FOLEY JUSTIN C. ROWELL. Rh. D.
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TELECOMMUNICATIONS ENGINEER
CHARLES F. TURNER
WRITER'S DIRECT DIAL NUMBER
(202) 434-4141
ru. Frank Bcrrelli Georgia Gulf Corporation 42C Read's Way New Castle Corp. Commons New Castle, Delaware 19720
Re: Draft Letter to EPA on Greenpeace
Dear Frank:
As you requested, enclosed is a draft letter from the Vinyl Institute to Carol Browner, Administrator of the U.S. Environmen tal Protection Agency (EPA). The letter responds to an April 1992 letter to EPA from Greenpeace alleging that PVC facilities are "dioxin factories" posing serious and new environmental hazards.
I understand that this draft letter will be used for discus sion purposes as part of the Vinyl Institute's deliberations on whether it wishes to send the letter to Ms. Browner. I look forward to seeing you at the VI Issues Management Committee meeting tomorrow.
ily yours,
/ /-f-
Peter L. de la Cruz
Enclosure
cc:
Fred E. Krause Ronald McCreedy Beverly V. Gholson, Esq. Larry Thomas Lewis R. Freeman, Jr. Maureen Healey
Meredith Scheck
SP1-07706
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regulations govern the release of vinyl chloride to the air, water and soils, impose stringent controls on workplace exposure
to vinyl chloride, and require the installation of advanced pollution control equipment at vinyl chloride and PVC manufacturing facilities.
The Greenpeace report is dangerously misleading because it's conclusions are based on several incorrect fundamental assumptions. Greenpeace asserts that the PVC industry is a "major new dioxin source" and implies that the dioxin produced by the PVC industry will add significantly to dioxin in the environment. Greenpeace wrongly assumes that because large amounts of chlorine are used in PVC production, large amounts of dioxin necessarily are produced as wastes. Greenpeace's conclusions are based on four fundamental, but flawed, assumptions.
(1) Greenpeace assumes that analytical data from a single vinvl chloride monomer (VCMV facility_are representative of data from all VCM/PVC facilities. Much of the Greenpeace report is based on analytical data from a single vinyl chloride
manufacturing facility: the Norsk Hydro plant in Rafnes, Norway. Greenpeace extrapolates data from a 1989 survey of dioxin emissions from this plant and applies the data to the entire universe of PVC manufacturing facilities. The 1989 data from the Norsk Hydro plant is not characteristic of industry-wide emissions on a global scale because production processes and emissions control technology differ materially at individual facilities. Greenpeace ignores the emissions control technology and regulatory emissions limitations on all vinyl chloride and PVC facilities in the United states.
(2) Greenpeace assumes that generation of dioxin during VCM
manufacturing,is svnonomous with the release of dioxin into the
environment. Greenpeace mistakenly correlates the incindental
production of dioxin with the release of dioxin and alarmingly
asserts that "manufacture of PVC may be the world's largest
single source of dioxin." This statement is without
justification or support. PVC manufacture is neither a large
source of dioxin production, nor a large source of dioxin
emissions into the environment. Very little dioxin goes into
wastes, and an even smaller amount is released into the
environment. For example, data recorded in 1993 at the Norsk
Hydro facility in Rafnes, Norway indicate that while 6.6 grams of
dioxins were produced during the manufacture of 425,000 metric
tons of VCM, only 0.025 grams were emitted to the atmosphere and
0.006 grams were emitted to the water. Greenpeace ignores
countless other sources of dioxin emissions into the environment,
and overlooks several independent studies that conclude that non
point source emissions from automobiles and other internal
combustion engines are a major source of dioxin emissions into
the environment
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(3) Greenpeace assumes that vlnvl chloride facilities in avllv Industrial areas necessarily were the source of dioxin j.ound in. environmental media in those areas. Greenpeace utilizes analytical data from several "case studies" showing the presence of dioxins in environmental media in regions near vinyl chloride facilities to conclude that the vinyl chloride facilities were the source of the dioxins. This conclusion is implausible because it ignores the countless other sources of dioxins in the industrial areas where the samples were taken. Greenpeace's inaccurate reporting of facts (including misstating the location of a vinyl chloride facility) and mischaracterization of the studies' results further undermines Greenpeace's conclusions.
(4) Greenpeace assumes that clinical, studies showing an association between chemlcal_worker exposure and increased mortality prove that dioxin caused the increased mortality. Greenpeace mischaracterizes the results of clinical studies of the health risks of dioxins. Greenpeace prematurely concludes that dioxin is a human carcinogen based on evidence from clinical studies that demonstrate an association between chemical worker exposure and increased mortality. Greenpeace's conclusion is fundamentally flawed because none of the cited studies concluded that dioxin was the cause of the increased mortality. Indeed, recent evidence suggests that it dioxin likely is not a human carcinogen at the low doses found in environmental exposures.
*****
Responsive to the Clean Air Act Amendments of 1990, EPA is reviewing the vinyl chloride standard and ensuring that maximum achievable control technology (MACT) is required. Current Agency rulemakings, together with continued industry commitment to environmentally responsible manufacturing, will provide ample protection against potential health threats. The fundamental flaws in the Greenpeace report cast doubt on its credibility and obviate the need for additional Agency action.
The Vinyl institute and the industry it represents remain committed to working with the Agency to provide essential PVC consumer products in an efficient, environmentally safe manner. We welcome your questions and look forward to continued cooperation in the future.
Sincerely yours.
Attachments
WORKING DRAFT
SPI-07709
3 October 20, 1993