Document oDe8xQDarKmKvgzMYb32JkQLw
FILE NAME: Georgia Pacific (GP)
DATE: 1977 Dec DOC#: GP156
DOCUMENT DESCRIPTION: Federal Register Notice - Consumer Material Containing Respirable Free-Form Asbestos
THURSDAY, DECEMBER 15, 1977
PART III
CONSUMER PRODUCT SAFETY
COMMISSION
CONSUMER PATCHING COMPOUNDS AND
ARTIFICIAL EMBERIZING M ATERIALS (EMBERS
AND ASH) CONTAINING RESPIRABLE FREE-FORM
ASBESTOS
Banned Hazardous Products
3354
[6 3 5 5 -0 1 ] tw a 16--Commercial Practices
uiidW tEK fc0HIIIMtf WQ006T w # iSeinr ACT RCttULATlO
ART 114S--REGULATIONOF!J$250H W SUWECT TO OTHER ACTSUNpeRTHE
CONSUMER WTODUCT SAFETY ACT - -----atehinf Compoumli and Artifl-
M ^ala ( E r n ^ and a Containing Respirable Frae-Form Aiboats* ' AGENCY: Consumer Product Safety Commission. ACTION: Pinal rula. . om niA B T : The Commission luue* Baal ^ d e te rm in in g th at it 1* in tho public S e im t to regulate consumer patching
and artificial embertaing materlala (ember* and aab) containing rseotreble, free-term asbesto*. for the puriLmm of addressing tho riik of cancer
.ni with inhalation of asbesto* under the consumer Product
Safety Act (CPSA) rather than under ttaa Federal Hazardous Substance Act (PHHA). According to the CPSA. a risk of Injury th at could be eliminated or reduMd to a suOelent extent under the PHBA may not be regulated under the CPSA* ipiiwM tbo Commtorton finds bt rule th at it la Ut the public Internet to dose. jKFP&l'lu r a DATES: For consumer --mw. compound* containing respi rable, tree-form asbestos, this rule be come* effective on January 16,1916. Per trttflcial emberizlng materials (ember* i n<5..h i f--*iw<wgrespirable tree-form asbmtoa tble rule becomes effective De cember IS, 19T7. FOR FURTHER INFORMATION CON TACT:
Chariot M. Jacobsen, Compliance and Enforcement Regulatory Management Division. Consumer Product 8afety Commission. Washington, D.C. 20201. 301-463-6400. SUPPLEMENTARY INFORMATION:
Bmeobocicb
On July 2. 1817, by publication of a notice In the F n n u Rccstsb (42 FR 28182), the Commission proposed a nils under section 30(d) of the Consumer Product Bafety Act (CPSA) (1* UB.C. 2019(d)) u amended, th a t It le la the public interest to regulate eooiumer p.fa-Mr*r compounds and artificial embertting materials (embers and ash) ^ te tn in f respirable tree-form asbestos under the CPSA rather than under the Federal Hazardous Substances Act (FHBA), (IS O.S.C. 1261-1214). 8ectlon 30(d) reads:
A risk at injury wbieh is tw it ltd with s nsasmmr product tnd which oould be
or reduced to a suflclsat estsat uader the M m l Hasardous Bubrtaaas Act * * may be ngulated under ths.CPSA only If tbe Oemmimlea by rule aids that it Is In ths public Interest to regulate such risk at Injury undsr (the CPflA-|
RULES a n d r e g u l a t i o n s
Also on July 29,1977, the Commission orooosed In the Fzsdlu. R z c a ro (42 fr 38783) * regulation under the CPSA that would declare as banned hazardous products, consumer patching compounds and artificial emberizlng materials (a* ben and ash) containing respirable free
form asbestos,
.
The Commission's reasons m the pro
posed section 30(d) rule for proceeding
under the CPSA rather than the FHBA
the CPSA, Pub. I>. 92-513. 86 as amended. 90 S ta t 510. 15 UJB.C. 2079(d), tha Commission amends Title 16, Chapter EL subchapter B, by adding new II 1146.4 and 1145.5.
6 1145.4 Consumer Mishin* compound, containing reepirmMc frw-fonn 1 bestest risk-of emew auocuted with inhalation of ssbeatos it* "*
(a) The commission finds that it is In the public interest to regulate the
th e rulemaking proceedings for regulation of these products under the FHBA are likely to be lengthy and re source-consuming.
2. Rulemaking proceedings under the CPSA are governed by provisions of the Administrative Procedure Act (5 ufi.C. 563), and are informal and nonad* versartal In nature and thus It would be more likely th at participation of the pub lie. including consumers. would be forth coming la ruleasking proceedings under
the-CPSA.
.
3. The Commission believes that civil
penalty provisions available under the
CPSA against persons who knowingly
violate the CPSA may provide additional
Incentive for compliance under the
CPSA. The FHBA doee not provide the
remedy of civil Penalties.
Cokksmts
No comments were received by the Commission which deal directly with the proposed section 30(d) rule. In com ments on the proposed ban, however, lateral persona in the marketing chain commented approvingly on the decision to regulate under the CPSA because CPSA doee not require repurchase at hawwad haardous produets by manufac turer*. distributors, and retailer*, o n the other *'<*, several groups of consumeroriented interests noted th at they would have preferred regulation under FHBA because FHBA provides for such re
purchase. As noted In the proposed section 30(d)
rule, the Commission is aware that regu lation under CPSA would preclude man dated repurchase of banned hazardous products. However, the CPSA does not preclude voluntary arrangements for re purchase back up the distribution chain. Moreover, the sdvintages enumerated above, particularly, th s advantage of having a final *--<"i"T regulation in force without having to lin t provide for lengthy adjudicatory proceedings, ap pease to the Commission to be more
to consumer health and safety than the refunds consumer* would have hwr PHBA. In the m atter of artificial -K.-i.iiwy materials, repurchase under tbe FHBA would have meant th at many prrgflnt la- the chain of distribution
risk of cancer associated with ^ ataU o n of asbestos fiber* from consumer patch ing compounds containing respirable tree-form asbestos under the Consumer
Product Safety Act (CPSA) under the Federal Hazardous futatanMS Act (FH3A) bcc&utt of the desirability
of avoiding poarthly lengthy.
'
cozuualn*. inefficient rulemaking pro
ceeding* under the PHBA end because of
the availability of civil penalties under
the CPSA for knowing noneompUanoe.
(b> Therefore, consumer patching
cocapounds containing respirable fr*e-
fonn inh-r"- ire regulated under CPSA.
1 1145.5 Emberizlng materials femb* * ml ash) confining respirable frtm
form b e .to .iri.k of ***** mjm with inhalation of ubetem
fibers. (a) The Commimion finds that it ta in tha public Internet to regulate the risk of cancer tietftr*****1 with inhalation of iS te ^ f lb S iftu m artificial emberizlng nmtmials (ember* and ash) containing rmniraHe tree-form asbesto* under the Coniwner Product Bafety Act (CPSA) rather th in under the Federal Hazardoua Substances Act (FHBA) because of the rdeessoiruarbcieli.t-ynosfuamvoiindgin.ignPeoffslsdibel^y^leenmgtshky-,
lng proceedings uader the FHBA. and. because of the availability of civil pen alties under the CPSA for knowing non-
compllanee. tb) Therefore, artificial emberiting
materials (embers and ash) containing respirable tree-form esbestoc are reg
ulated under the CPSA.
Effective dates: Section U4S.4 be comes effective January 16.1678. section 11455 become* effective December 15.
1917.
IBM. 30(d). Pub. L. 92473. 80 Stat. 12*1
M
90 BUS. 910 (19 U9.C. 297*
(d)) )
,
Dated: December 12.1977.
Shzloon D. Butts, Assistant Secretary. Consumer
Product Safety Commission.
(PR Doe.rr-M744 Piled U -ia -T fill* wnl
would have handled these materials rather * * disposing of them quickly In order to avoid additional exposure.
Accordingly, the commission finds th at for the health and safety of con sumers, It Is in the public Interest to regulate consumer patching compounds ,.H artificial emberizlng materials con taining respirable tree-form asbestos under the CPSA rather than the FBSA. Therefore, pursuant to section 30(d) of
6355-01 ]
COANRSTUIMFICEIRArLA^ElMiBSER, ^JZ^INAQ WMAITAERiiiSua (REEMSPBIERRASBLEANFDREEA-fOSHR)M ASBESTOS Establishment Aa Benned Hszsidous Products
AGENCY: Consumer Product ss/ety /Vwmmltrinr.. *
ROOM u o is r a . VOL 42. NO. *41--THUtSOAT, OKEMSH 13. I *7P
RULES AND REGULATIONS
63355
Oa July 29, 19?7. by publication of a
ACTION: Pinal rules.
notice In the f t u u R s s s m (42 FR
bttvmaHY: in this document the Com 32782), the Commission alio proposed a
mission declares th at the following prod* rule
th at It Is In the public in
ucte r--
respirable tree-form es- terest to regulate consumer patching
bestos are banned hazardous prddu*" compounds and artificial emberizffig me*
under the Consumer Product Safety Act. terlali eontainlnf respirable free-form
(i) consumer patching compounds used asbestos under the Consumer Product
to Jolnorrvpalr Interior walls and cell Safety Act (CFSA) rather than under
in g (mixing of the product before It is the Federal Hazardous Substances Act
sm iled, sanding of the product after It is (PHSA). Section 30(d) of the CPSA (IS
dried, and cleanup after completion of D3.C. 2079(d)) requires the Commission
tho process, release sebestoe fibers th at to mmtrQ such a finding by rule, before
ein bailnbeled); and (2) artificial em- regulatin* under the CPSA. a risk of In*
berinng materials (embers and esh) used jury which could be reduced or elimlnat*
m fircplacee to simulate live embers end ed to a sufficient extent under the FHSA.
ash (ordinary air currents In the house The commission issuee this rule else
hold move asbestos fiber* that can be In where in the F n e is t Rb s b r i. The data
haled). Tbs Commission issues this boa in these proposals are Incorporated here
to order to reduce or eliminate the unrea sonable risk of injury from certaln tjpes
in. by reference.
of re""1that may result from inhaling
Section 9(a) (2) of the CPSA requires that, In addition to providing an oppor
asbestos fiber* released during the use of tunity for
written submissions,
these products.
the Commission shall provide Interested
KFFflL'n VB DATES: (I) For consumer persons with an opportunity to make oral
compounds containing resplra- presentations of data, views or argu-
blefree-form asbestos, the regulation is meats relating to proposals to bin. Oral
sued below a t section i133MM. apphuees two presentations on the bans were heard by
products manufactured or initially i n t r o - c o m m i s s i o n an August 15, 1977.
into commerce on January 18. v ie on the bans ere discussed below
1978, or after th at data, fo r all other uuder comments oa Proposal,
consumer patching compounds contain- ^ order to have sufficient time to re
in* respirable Iree-iorm asbestos, .no rteir ^ ^ responses to tho banning
m att when manufactured or Initially proposal, including late responses, an
introduced into commerce,,the regulation ^October 4.1977 (42 PR 53970), the Com
at section 1304 applies.wi June 12,1971, pmuisseiloena extended unntitlil-N--o-v--e-m--b--er 28.
aMnLdBaHfWtert tWhHaitwdwaetwee. ('2) For artif1icia,l "eTtn7- 1977. the time fax w.h.ic.h .I.t...m...u..s..t...e..i.t.h-er
berlslnx materials containing reaping publish a consumer product safety rule
free-form esbeetos. the regulation Issued or withdraw the proposals to ban. This
below at section 1305 applies to product! date was further extended until Decem
in commerce on December 15. 1977, or ber 12. 1977, bv notice published hx the
after that date.
Fdxbal Rtr.isrxx on November 29, 1877
FOB FORTEER INPORMATTON CON (42 PR 50752).
TACT
Com m rn ow Piorout
Charlm if. Jacobson. Consumer Prod uct Safety Commissi), Compliance and Enforcement Regulatory Manage ment Division. Washington. D.C. 20207. 301-492-0400. SUPPLEMENTARY INFORMATION!
B a cxcio cw o
On July 29, 1977, by publication of a notice In the F n tu x . Rxobti* (42 PR 387*3), the Commission proposed rules to declare that consumer patching com pounds "* artificial emberiring materi als (emben and ash) containing respira ble free-form asbestos, are banned hasardoua products under the Consumer Product Safety Act (CPSA). These rules were proposed because the Commission preliminarily determined th at an unrea sonable risk of Injury of certain types ef cancer, such as mesothelioma and lung cancer, is assorleted with Inhalahle as bestos found In these products. Tbs In formation on which the Commission's preliminary determination was based Is
Oral views on the proposal were pre sented by 7 person* on August 16. 1977 with 3 representing consumer groups and 4 representing manufacturers. In addi
tion, the Commission received 30 writ
ten comments which represented 17
manufacturers and 2 distributor: 4 fed
eral agencies; 3 public interest groups;
3 concerned citizens: a supplier of raw
materials: and a chemical research and
development firm. Among the 10 com-
mente n who expressed support for the
ban were 5 manufacturers at patching
compounds. 3 federal agencies and 2 pub
lic interest grouse.
.. _
lb significant Issues raised by the
oral M|( written commenta are set forth
below.
..
A. Scope and definition. The proposal
states th at consumer patching com
pounds a n those th at are customarily
produced or distributed for sale to o r for
the personal use. consumption or enjoy
ment of consumers hr c r around a house
hold or residence, a school. In recreation
reference. The bibliography of 50 referepees cited In the proposal are repeated In this preamble for convenience. Numben 51 and over refer to additional infor-
motion considered in (niwg thi- rule.
. _ ____
.
or sale rironmenta are either distributed for saie
to consumers or are for the personal use
or enjoyment of consumers. Moreover,'
Information available to the Commissian
indicated th at meet patching compounds
for commercial/Industrial use a n dis tributed in such ways that mnwimen have access to thee* products (51) either by purchase or for their us* and enjoy ment. Therefore, the Commission con
cluded th at these are consumer products subject to the Commission1! jurisdiction iwi-M such patching compounds a n la
beled as. marketed, and Hid solely for
Industrial use. ' l. Patching compounds at consumer
products, (a) Several commenters re quested a dearer definition of consumer patching compound and a manufacturer qumtioned the boundaries of the term "consumer produet.* The manufacturer
states that the definition of consumer
patching compounds hx the ban has been
improperly broadened to lnriude Juris
diction over building materials. He be
lieves th at the CPSA permits regulation
nnij of articles used within the homo,
not tho structure of the home itself or
the integral parts of the structure. Ho
states that Usee consumers have bccoh
to patching compounds containing res
pirable free-form asbestos through most
marketing channels, these products can
bo considered consumer products under
the CPSA. Thus, he believes th at it was
bxaopropriate to cite a recent case,
(TJ-S-A. v. Anaconda Co, et el*"- Mlse.
NO. 77-0024. (DJ3.C.) June IS, 1977)
which
that the presence of a
product hx a consumer environment ean
help decide whether that produc t 1 a
consumer product under the *CPSA.
Therefore the eommenter ur*a "the
<vtwvw<M<tiTi in its fla il rew latian to da
lets* the paragraoh oa "Anaconda* case In order to "avoid the creation of an un necessary conflict * * within the raw-
m response to this comment, the Com,-i-iw i notes that the paragraph which cites the case In Question Is xu* In the proposed regulation but hx th at p art o< the preamble which explains th e regu lation. hx the preamble, the Chroirriesian cited "Anaconda" not In reliance on the ease a* a basis for regulation but to show bow the case Interprets the definition of consumer produet i t section 3 ii) (1) ok the CPSAwhich rtada,
T ic t*rm "eoaium *r product" m atsa m y irtlctof c r component p ert tfacnof* produced or distributed (1) lor I t to i oaaiuaor fo r
og u o u sd i p o s u i& t or te a p e iv y hmucfeold or M ld tu t, eb-- 1b non. or otherwise, or (U) tar th *:pstvoiua cun ooDoropttoB or w jp p w o t o t % eoa* enm-- m of lro u sd i prraumeiitn or to sp ^ * rary household1or mids&co* i ctools la n o ta tio n , or othtfvU o:
Although court have not yet reached a definitive decision on the coverage ot the term "consumer product" the Com mission believes that the statute and leglslatlva history, by themselves, afford sufficient authority for Commission Jurisdiction ewer the defined product and lte use In consumer environments. It ap pears to the Commission that the defini tion of consumer patching compound ia the proposal fall* within section 3(a) (1)
KDKAl MOISTH, VOL 41, NO. 141--WtlBPAV, OICIMMt IS, MTf
6335*
RULES ANO REGULATIONS
of tbs CPSA and th at the "Anscocda" Occupational Safety and Health Ad to amend the definition of
ease underscores the definition.
ministration of the Department of Labor compound at i 13043(d).
Xa order to minimise u j confusion. (OSHA) and, since the consumer part 4. Asbestos terminology for both prod-
new subsection (e) has been added to of his business is until, the ben should nets, (a) In d(iiwy the proposed defl
'
1 1304.1 Scope end Application, to thaw the coverage permitted bp the CPSA.
not apply to compounds for commercial and Industrial use.
a tio n of "asbestos," a writer from a
- T hat subjection reads:
f
As is indicated herein, any patching
chemical research and development cen ter states th at "silica" is a chmi*i com
(e) Only oonium sr products ire subject /compound mtaiwiwg respirable free to ta il rsru lstio o . P etchiae eossnoimda form asbestos that consumers have ac
pound and as a compound is not a com ponent of asbestos. He suggests that the
wbleb tre consum er preduocs u s tbose vtOcb s e o n stu u r can purchase. Merely tsbettag
cess to in consumer environments or
word "silicon" be used to denote' that
a patching compound for Industrial uas may purchase would be subject to the It is a single element which la present
would not azcluda such sM cIss from tfct baa. Therefore, such products, although In asbestos.
baa, IT tb s sals or u at of tba product b j they may be for Industrial/comnaercisi The commission concurs th at the
consum ers la facilitated, i t la subject to tba baa. Patching compounda which are labeled
i s t are also considered to be consumer products.
term "slUea" should not be used, but ra
as, m arksw d. sad sold solely for ladnatnal
use in B oa-ooBraoer enTironm snts not
ther it should be "silicates."
asbes
On the subject of regulation of th--- tos is a generic term used to describe a
subject to tb a baa. la addition to theas pied- ^products by OSHA, the Commission notes number of naturally-occurring hydrated
nets which eaa be told directly te eeasum tia. th at section 31 of the CPSA provides that mineral silicates. Therefore, the word
tba baa sppUae to patching compounds cen- the Commission shell have no authority "silica" Is deleted from the ftnin.' of
talnlng n sp ln b la fraa-form aabsatoa which to regulate any risk of injury associated sbeatoe In ! ( 13043(b) and 13003(b)
a n used In neldenesa. schools, hospitals, publle buildings or o ther in a e where con
with a consumer product if such risk could be eliminated or reduced to a suifi-
below and the te rn `Jhydrated silicates" Is substituted therefor.
sum ers have custom ary irrm s
clent extent by actions taken under the (b> A ptfhUe inte n e t group takes is
It' lg deer from thle language nt me Occupational Safety end Health Act of sue with the definition of asbestos used
of patching compounds la consumer m - 1970. Under that Act. OSHA has tailed in the proposal and urges the Commis
rironnumte determlneo their ttatua sa regulations which specify the airborne sion to adopt a definition of asbestos
consumer products, whether the patch concentrations of asbestos fibers te which proposed by OSHA in 1070. The defini
ing compounds are applied profession any employee may bo exposed (29 CTR tion of asbestos used In the Commission
ally or by consumers. And. although the hazard may be greater for professional
1910.93a). However, OSHA regulation,, proposal is baaed on the definition used apply only to workplaces end not to by the Bureau of Minas (SO). The eom
mere at patching compounds a--vuim at placea where consumen would use the menter believes th at the OSHA proposed
their repeated exposure, residual drnt producto thenuehrea Therefore, the definition could help resolve disputes
from landing during construetlcn or Commission considers th a t etiHBi to over the presence or absence of asbestos
renovation it also e bacard to consumers regulate this product which can be taken in consumer products.
who mag not apply the patching cam under the Occupational Safety anil. Aa the eommenter pointed o u t several
pounds themselves (36).
Health Act of 1970, cannot reduce or federal agencies with responsibilities for
(b) A manufacturer who supports the eliminate to s sufficient extent the un regulating aabeetos (HPA. PDA. OSHA,
ben states th at he would have no way reasonable risk of Injury to consumen CPSO are working toward a uniform
of policing the sale of different else con th at Is associated with the product Ac definition of asbestos. At a recent work
tainers. Therefore, although he packages cordingly. the Commission regulates shop. July 19-30, 1977. a t tho National
a 1-gallon size of
compound for this product under the CPSA.
Bureau of Standards on asbestos defini
sale to consumers end a 5-galloa size for commercial-Industrial use. he believes
3. Tvp* of patching compound covered by the ban. A manufacturer of caulking,
tion and identification problems, it was agreed th at there Should be a uniform
the ban should apply to all sizes.
sealing, glaring, adhesive end coating definition of asbestos which wmdd be
Given the availability of p -t-h t-g products believaa the reputation of hie mlneraloeleally correct aa well as reflect
compounds to consumers through
product could bo adversely affected by health concerns. However! there waa
marfcettog .channels, the Commission the ban. Although the Commission baa clearly a lack of agreement on a defini
egrets th at it would be burdensome for manufacturers end distributors to assure
stated that the banned product presenta a hazard because It li mixed. a<d and
tion and an interagency agreement on a definition hat not yet beenxeached.
that large sizes of patching compounds, which they claim to be industrial prod
moved about during cleanup operational the commenter believes th at the defini
The definition which the eommenter urges the Commission to adopt was pro
ucts. are not sold to consumers. More over, is noted In the preceding response,
tion of the banned product should spe cifically exclude the above-listed prod
posed by OSHA on October 19. 1975; It has not yet been finalized and is subject
merely labeling a patching compound ucto because they are deafened to remain to change. The OSHA proposed defini
. for non-consumer use would so t exclude such articles from the ban. Where a
flexible and are, therefore, not gener ally sanded. Therefore, the eommenter
tion reflects OSHA's concern for the health aspects of asbestos and is based
r
manufacturer, distributor or retailer fosters or facilitates the product's sale
requests that'the definition be - M to cover only those compounds, "which
on experimental findings associated with fiber morphology (siae and shape). The
to or use by consumers, th product is considered a consumer product and ia
after drying a n required to be or ere normally mnded to a smooth finish."
Bureau of Mines else seeks to encourage uniform definition. Their <ianiMim
within the scope of this ban. This com ment indicates th at it may be <r m d -
In response to this comment the Com mission notes that the patching com
which was used by the Commission is based on mineralogies! composition. This
lngiy difficult to differentiate a compound th at Is a consumer product
pounds subject to the ban are t*--th at contain asbestos which can be
baa been adopted la final form by that
agency.
from one that might bo termed a prod ea a result of mixing, arming gad -i---,. uct for industrial use only. N cm tho-
The Commission has reviewed much of
lem, as stated in section 1304.1(e) Beene
up opeiiUenx. Therefore, patching ma terials such as those listed by the eom-
the available data on the characteristics of asbeotiform mineral fiber* and their
and Application , "patching compounds which are labeled as. marketed, fi ^
m tnter which
are
not
sanded
after
nonasbestoa counterparts. From these
solely for industrial use in non-ecesum s'
application because they are intended to remain flexible, would be exempt if they
data. It would appear th at usa of the proposed OSHA definition could also In
mvlronments are not subject to the ben."
are not available In dry, ready-to-mlx
clude nonflbroui cleavage fragments and
3. Regulation of patching compound*
form. The Commission believes it is clear that only consumer patching com
other particulate subetencee. aa well as other mineral fibers within the proposed
op OSHA. a manufacturer of dry-wall Joint compounds states th at the commer
pounds containing asbestos which can be Inhaled when the product Is In dry
dimension range th at are not asbestos fibers. While the Commission te inter- -
cial and professional market for such compounds is already regulated by the
form or being sanded are subject to the ban and therefore declines in this -- t
ested in arriving at an unambiguous uni form definition of asbestos, there is not
n c a a t u w jt r , vol tz , no. h i --mutscAV, oce&aMi u , i*yy
RULES AN D REGULATIONS
63357
ing asbcctoa. Whcosvar a manufaetutor finds ing a relatively man inventory. Dis
yet enough evidence to b u ,i
out that the fialahod product contains as- tributor* report that they maintain a
ftf "asbestos" on fiber morphology. ^here Sotoa the manufacturer will ba none!dared m ail inventory compared to their sales.
h commission believes the pro* aa knowingly using a raw material contain Retailers have a much slower-moving
__ h definition ihould not be chsnged in the erai rule. As drtnimsteiicee wsr-
ing asbactee unlem the manufacturer taka ctepe to reduce the asbcctoa to tbs maximum
Inventory (51).
.
The commission considered the pai
M it. the
could be emended e t
stent lnslhla. Therefore, the bon applies only to
sible adverse economic Impact of a 30-
^ i
AthfistQt to id stiiw iiM in patching
consumer patching compounds contain
day effective date on Inventories of man ufacturers, distributor* and retailer*.
nMmSiTBeverel manufacturer* a JJSSdFeoneem th e t ril petehlng ecm-
ing intentionally-added respirable free form esbeetoe and will not apply to
The Commission also considered the posstole adverse effects of exposing con
Soundi would be Uhject to the te n reth- products having unavoidable trace sumer* to lnhalable asbestoe by permit
. than only those compound to which bee been Intentionally added.
amounts. g. Arti/tciaZ
embertoing
materials--
ting the manufacture, dtotirlbution and ,i^ to consumer* of patching com
'Thcr point out th et isbe*toe Is ublqul- exemption front ban. A manufacturer of pound* until ISO day* after publication
S ^ iT th e environment nd thet traces electrio artificial logs and electric fire of a h . I t appears to the Commission
of kibe*toe may be present as e eontsm places states th a t although the Commie- th at early discontinuance of the manu
jn .n t in other minerals th et are mined in areas of serpentine n ck. O nt com-
ion proposed to baa only artificial emtv-H-iny materials containing respirable,
facture of this produet would be necesta rr tn order to stop Its continuing pro
lu n e tte th et the Commission free-fonn asbestos, reference# in the liferation in the market. On the other
w ild e r permitting patching compounds media to artificial logs and artificial fire
substantial advene economic Im
which contain such naturally occurring places reflect adversely on hto buslnem. pacts could result from the freesing of
^rntnante. Other eommenters-sug He asks, therefore, th a t hto products, distributors' and re ta ilin ' inventoria* at
gest th at a percentage of asbestos eon- which use an artificial ash bed of vermis- n early effective date. The Commission
by weight be permitted. The. ullta. be exempted from the ban.
therefore th at the ben should
lowest percentage suggested by on# com- As the eommenter noted, the Commis become effective a t two different potato
menter Is 1 percent became the En sion te a applies only to emberiring ma in me. p ar manufacturers, the ofee-
vironmental Protection Agency <EPA> terials containing respirable free-fonn tive date should be c!om to publication
ubeetos and not to any artificial loga or of the rule la order to stop the con
csrJB B rssw a M - artificial fireplaces with which they may tinuing manufacture of the product. For
be used. Since the banned product to distributors and retollers, the effective
used with artificial logs It to understand data ihould be delayed to help amelio
rs A 'B fsa - -* able that questions are raised aa to dif rate adverse conomie Impacts.
SfA SSJT J^SS'i'SSiS ferent kinds of artificial logs. The Com Therefore, the Commission declares
slcn doce not with to baa all consumer mission does not believe it would be ap below a t 1 1304.4 th at consumer patch
patching compounds In which traces of propriate to exempt from the baa all ing onnpmwMr conta tiling respirable
are present as s conta minan t- electric logs coated with unidentified free-fonn asbestos . which have been
n ther <*" as an intentionally added tubstaaeee. or all artificial ash used fit manufactured or initially introduced
KUblttflCGi
electric fireplace*, since some of these Into commerce 30 or more day* after
m s suggestion th a t the commission article could Include the banned prod publication at this rule are banned
permit contamination of 1 percent by u ct However, la order to clarify the m at- hazardous products. This means th at a
weight.-however, appears to be Inappro . ter for consumer* aa well aa producers,
hasardoua product, having been
priate for eonsuaur patching compounds the Commission adds a statem ent to manufactured or Initially Introduced
conrumen would so t bo tuffl* 1 1305.3(d), the definition of embertolng Into commerce, retain* ito statue as a
dently protected. One percent by weight materials, which reads, "electric artifi immun* hazardous product; thus, ito
could mean a suhetantial number of cial logs and artificial aah beds used in subsequent sale, offering for Mlft o rd to-
-TMn lightweight aabestoa fibers, thus electric fireplaces which do not contain tributtan In commerce, is prohibited by
presenting a significant exposure to con respirable free-fonn asbestos are not In any person In the
of distribution,
sumers of respirable tree-form asbestos. cluded In this definition.''
h i addition, the Commission dedans
Therefore, the Commission declines a t B. ISecttoe dote. Six comment* dis that all other consumer patching com
this- time to adept- a percentage by cussed the proposed effective date of the pounds containing respirable Dee-form
weight to define permissible contamina han of consum er
co n o o u sd l ifbcstoe, no m atter when manufactured
tion.
which was 30 day* after publication of or <"*m- hw introduced into commerce,
Industary experts do not agree as to the the final rula. Five manufacturer* rug- ire banned hazardous products ISO or
amount of asbestoe th at might be pres rested a date later than 30 day* after more days after publication of this rule.
ent In products without deliberately publication. A public Interest group sug (As stated below In 11304.4(g) of the
added esbeetoe. Nor to th e n agreement gested th at the effective date be the date ru la <"<**** introduction into commerce
on the reliability,of the technique# used to measure low levels (below i percent)
of publication of the final rule. (1) One eommenter suggested th at the
of this product occur* when the product to rT-fcn shipped from a manufac
of asbestoe by weight. The Commission Commission consider a series of effective turer's facility to a distributor, retailer,
believes, however, th at the use of ap dates for the ban on consumer patching consumer or to another person for appli
propriate quality control measure# and compounds: 30 da>j for manufacturer*, cation in a consumer environment.)
careful selection of raw materials can 90 for distributor* and ISO days for re ' in summary, 30 day* after publication
serve to -nwnwi contamination from tailer* In order to clear tarventoriee. of this rule, manufacturer! will be pro
unintentionally added aabestoa (see the Several eommenter* believe th at a 30- hibited from manufacturing or shipping
Commission's economic Impact state ment on file a t the Office of ths Secre
day effective date might prove burden some to m a ll manufacturers because of
the product to distributor*, retailer*, consumers, or to other* for application
tary). Za order to emphasise th at only the Inventory problem.
In
environments. Further, 180
patching compounds with clearly un The m atter of Inventories wee con d a n after pubUeatlcm of this rule, dis
avoidable traces of asbestos contamina sidered In the July 29. 1977 proposal to tributors and retailer* will be prohibited
tion will be permitted, the Commission ban end further dtoniteed a t the public from selling, offering for sale, or distrib
define# "Intentionally-added asbestoe" a t i 1300(f) of the rule below to mean
meeting of August 15, 1977. The concern of those involved to clear their existing
uting any of the described products, no - . . mW- when manufactured or initially
asbestoe which to
inventories of consumer patching com Introduced into commerce; to distribu pounds containing respirable free-fonn tors, retailer*, consumer* or to others for
(i) added CeUberattly is aa in g n d laat In tended to im part ipaelfle ebam ctarlaUcs: or
asbestos
was
considered. Information
application in consumer environment. (2) The nubile Interest group reeom-
(3) contained la the final product as a rocult a knowingly using a taw m atsrlal contain
available to the Commission Indicates that manufacturer* are now maintaln-
mends m at the effective date of the ban
KDEMl IKISTU, VOt, 42, NO. M i--THUKBAT, DfCEMIH 1, 1OFF
63358
an r~ '* m *r patching compounds eoc*.inin> respirable free-fora asbestos be
ttat date of publication of the final rule, u It la for artificial wnhcrtsini materi-
|] |, ITu commission pxopoeed that the ef
fective date of the baa on artificial em-
berldng material* be the date of publica
tion
the Administrative Prose*
dura Act (S Ufi.C. 953) which govern
publication of consumer product aafetr
rulea provides that a rule should be pub-
]jehed 10 days before Its effective date
uni-- the Commission finds good cause
to provide otherwise. Unlike patching
compounds, where exposure to asbestos
flboa la meet prevalent during miring,
(ending end cleanup operations, al
though the fibers may remain suspended
for a considerable duration of time, is*
beetos fiben In emberizing materials can
be respired as long as such materials are
In the heme because they are alway In
dry form end ready to be moved about
by ordinary household sir currents. It
appeared to the Commission, therefore,
th a t these eaberlzing materials should
be removed from commerce as quickly ts
I-- end that there la good cause to
have the ben effective on the date of pub
lication. To assist persons who already
bad such materials In their homes, the
Commission, on July 31. 1977, Issued a
press release on the Impending ban which
a Consumer Alert advising con
sumers of the dangers associated with
these emberirihg materials and Issuing
Instructions for their safe removal.
Bcooomle advice to the Commission
Indicates. In addition, that no significant
advene economic Impacts are anticipat
ed u a result of the Immediate effective
date for emberizlng materials (51). As Is
1nd1ctJ*l In the foregoing discussion, the
economic impact of a 30-day and even
a iso-day effective date for patching
compounds would be significant and
therefore it appears th at the economic
Impact of sa Immediate effective date
would be more significant, since no new
Infonnatlon has bees presented to show
th at an earlier effective date should be
promulgated, the Commission declines
the suggestion of the public interest
group. Therefore, the effective date of the
regulation on consumer patching com*
pounds containing respirable tree-form
asbestos la 30 days after publication at
this rule as to manufacture and initial
Introduction irto commerce and 1M
days after publication as to ill other
units ot the defined product no m atter
whan manufactured or initially Intro
duced In commerce.
C. Product risks and risk aUtumeni.
Severe! commente n dlscuseed the Com
mission's risk assessment for patching
compounds ta d questioned other aspects
of the hazard.
(1) A m anufacturer suggests th at use
by the general public or by aabeetm
workers Is not hazardous and
tlw
greatest h a a rd is to a worker during
sanding operations If he also smokes.
The Commission notes th at while data
from an epidemiological study of sabee
tos Insulation workers Indicated there
wes an Increased risk of death from lung
IULES AND REGULATIONS
cancer among smokers, it also Indicated pational exposure to esbestoe as the basis
there was also an Increased risk of death for Uu Commission proposal. The corn-
from other asbestos-related diseases, In menter believes th at portions of the
cluding asbcstoels, among nonmotere OSHA review of October 1975 are scien
(17). Data also suggest th at the high risk tifically inaccurate.
of mesotheliomas (cancers of tho pleura The Commission notes that meet of the
and peritoneum) from asbestos exposure Information on hazards associated with
appears to be unrelated to smoking UA Inhalation at asbestos Is based on occu
I).
pational exposure. It can bo said <*aa (be
(3) A distributor of flreplaess and fire-body of fH--ituie literature in the 06HA
place equipment doubts there U e hecerd proposal has already been subjected to
associated with rmhom ing materials be public scrutiny. During preparation of
cause the fiben used la emberizlnf ma the Commission proposal, commission
terial* are relatively large and fibers staff conferred with OSHA. As a result,
which would become airborne would be the Commission proposal deleted refer
pulled up the fireplace flue.
ences to studies which OSHA termed to.
While It Is true th at the large asbestos be of questionable validity.
fiber bundles pose little risk of inhalation, Aa pointed out in the Commission pro
the fiber bundles release individual fibers posal, there had been only one report of
which in tu n , can break locltudmilly consumer expoeure to asbeetce in the
Into microscopic fibrils (57). Tiber* could scientific literature prior to the proposal.
bscomo airborne under normal use. In-' Based on the data from th at study, a
stallation, and handling conditions, as Commission assessment was made of the
well as from roam drafts. Ones the fiben potential increased risk of respiratory
beeome airborne,-they can remain sus cancer associated with use of consumer
pended over long periods of time, eventu patohiwy compounds containing asbestos
ally settling out on Items of furniture, fibers.
draperies, etc. only to become airborne The Commission also based Its pro
and available for respiration with use of posal on direct and Indirect evidence of
these items. As long as the free-form as asbestos inhalation in non-occupation-
bestos emberlzing material remains loose ally
Individuals, Ineluding re
on the fireplace floor, there Is a possibil ports from autopsy findings ot asbestos
ity that It could beeome airborne and fibers In lung tissues end from epidemic-
thus respired. (3) A manufacturer states th at since
(5) In assessing the degree and nature
Commission data are based on occupa- of the risk of Injury to consumers from
(local statistics, It Is difficult to document patching compounds, the Commission
the Commission's view, In the proposal reviewed experimental data and human
that, "for many people the major ex experience Information, in addition, on
posure to
asbestos Is in the the beais of data by Rohl on exposure to
borne."
esbestoe during the use of consumer
While It Is true th at much at the com patching compounds (38), the Commis
mission data on asbestos-related rtlsreie sion's Health Sciences staff calculated an
are based on occupational! statistics, a aaaesment of the risk which was de
risk assessment was made of ooneumar scribed In the proposal. The calculations
exposure to respirable asbestos 3a patch- were based on the,,application of a theo
fhiHwy m trlTIg, MUli&ff retical model
to that described
mnA
opentldzu which attimaiad . by Enterline and Henderson (11). Sev
the increased risk of lung cancer from eral highly hwiri comments were re
such exposure In the home. A report at ceived In respaeae to the risk assessment.
in consumer w--erfiinw com The significant Issue* raised la these
pounds Indicated th at significant levels comments are discussed below.
of respirable free-form asbestos fibers (a) Two eommenteri questioned the
were detected In rooms adjacent to th at assumption In the risk assessment that
where the actual patching and sanding exposure to asbestos is cumulative over
operations bad occurred so th at other the lifetime of a person, and whether
household members could be exposed as Interm ittent expoeure ever several yeare
well as the Individual performing the has the same effect as If the same ex
patching job (33). In many areas of the posure bed taken place In a single year.
country (nonurban), there appeals to be In reviewing the literature on esbestoe
a relatively low background level of as expoeure, the Commiarioa finds that as
bestos (53). Therefore exposure In the bestos fiben are unlike many chemicals
home to asbestos fiben released from amt other *"a**ri-ta which the body may
ennsumer products could represent the metebollre and excrete. Body clearance
major exposure. As noted In the proposal. of asbestos fibers Is mueh leas effective.
Dr. Paul Kotin, Johns-Ifanvllle, stated They have been found not only to re
In a presentation before the commissicm. main In the body butifia eeeumulatq)(55>.
June 9. 1977. th at young children are try the data trod lo ihow that Inter
particularly vulnerable to exposure to m ittent expoeure ean lead to cumulative
ttfcJfiflnMi u rf {lfiuiT thri? XBAiUP B* buildup of asbestos fibers. It appears to
posure to inhalable ssbeetos would be in the Commission that Intermittent ex
the home. The Commission therefore posure over several yean could have th r
feels It is cMcntial to minimhe, to the same hazardous effect as If the total
extent possible, exposure to respirable interm ittent exposure bad taken place
asbestos.
within one year.
(4) A commeptar questions Commis . (b) Two commontera Indicated that
sion reliance on OS&A'a proposed the hazard from applying patching com
eaendm ent of October 9. 1975 to occu pounds could differ In different dreum-
FfDClAl ttoism , VM. 42, NO. Ml--WWUDAT, DCCEMMI 1J, 1977
RULES AN D REGULATIONS
63359
eteaee. They Indicate that persou of diffuiBg mi may relea different .m m m ti of lnhalabla ubeetoe into the air. Although theeo differences occur, a eoniumer would likely rtieaae more u bagtce into the air became he or the may be ]eo* skilled is the proeeee than a pro fessional applicator, lh a Commission mi ngiilire a* these eommenten point out th at seme products hare a smaller per* -- , . p of asbestos than those which were used for exposure data la the Com mission risk assessment. For example, oee commenter submitted asbestos exoosurw date from a study he conducted r* i,r a compound th at contained a - ..in amount of ashestoe. Based on this commenter* exposure data, mother risk assesanent waa conducted, The re sults su n est th at use of a patching com pound containing less ubeetos may re duce but does so t eliminate an excess of deatha due to exposure to asbestos la Pitching compounds. The range is from 1 death per million persons exposed for the projected flee years exposure using one model and up to 338 lifetime excess cancer respiratory deaths per million ffim m expand during another model (S3). I t n>te be noted here th at while aabestoe levels may vary, they do not dbanko the fact that there la no known level below which lnhalabla aabestoe may be considered safe.
(e) Another commenter says that us ing a premixed compound reduces the consumer's exposure to asbestos. The eommentar also thought that the Commlaslon'e estimate of consumer exposure was too high. The Commlsslon'a risk **scasment analysis did take into consid eration the exposure during the mixing of patching compound. While expo sure to asbeetoe fiber* would be negligible during alight stirring iff a premixed compound, the exposure during the ..wifiwf and cleaning 'operation! In volved would be the same as for the dry compound. Consequently, the risk as sessment valuee would not be signifi cantly reduced. As for the four-day, eight-hour exposure being too high an estimate, no data w en submitted to sub stantiate that contention. As stated Is the proposal, therefore, It appears to the Commission th a t although the exposure may be high, it Is a reasonably fort i es
D. Substitutes /or asbestos. The July 39, 1877 proposal notes that rubstitutee for asbeetoe are already being used a compounds. One cf th s most common substitutes la attapulgdte. a fi brous clay, o th e r substitutes of a fibrous nature are wollastanlte. kaollnlte. sepioUta and bentonite; Bern a l comments ex press coocera th at materials used es sub
stitutes for asbeetoe may also pom has
arda.
'
The Commission shares this concern.
Substitutes for asbestos have been under
consideration fo r only a short time. Little
data are available on which to evaluate
the Mfety of substitute materials. Ex
perimental Ow/itrigof Stanton <58) indi
cate th at many m inenl fibers (In addl-
H.oa to asbestos) of small respirable di
mentions are biologically active under experimental conditions.
According to correspondence dated
July 26. 1877 from Dr. Paul Kotin of the Johns-Manville Co. with environmental consultant Barry Csstlsmsn, a JohneManvUlc study Is under way to assess the potential Inhalation hazard of certain naturally-occurring or man-made min eral libera such as ceramic fiber*. Ce ramic fiber* ar* a potential substitute for artificial amhartrlwg matarlylf
Human exposure data to substitutes
arc extremely limited. Occupational ex
posure data to certain clay mineral flben
which are proposed asbestos substitute
are scheduled to be presented at a Sym
posium on Occupational Exposure to Fi
brous and Particulate Dust and their Ex
tension Into the Environment, in Decem
ber 1877. TheM date arc expected to In
dicate the extent of exposure, rather
than human experience findings on re
sults of such exposure. Date on the re
sults of human exposure to asbeetoe sub
stitutes will not, In all likelihood, be
available In the neer future,
(1) A commenter suggests th at substi
tute, since they would be fibrous, would
present a risk.
-
In r-vfM vg aabestoe substitutes, data
available to the Comml.alon indicates
th at a number of substances may be used
which are not fibrous such ea calcium
carbonlte, day, resins and mica. For the
fibrous clay minerals which may be used
as asbestos substitutes such u woUacto-
nlte. kaollnlte. seplollte and bentonite,
the Commission la aware th at there la a
lack of conclusive data on tb s hazard
potential associated with them minerals.
iHHwnwai study Is needed to evaluate
the risk of Inhalation exposure to such
m n mineral flben. Nevertheless, the
Commission believes th at the known risk
from lnhalable asbestos requires the
k-- of th e n products a t this time.
(3) A comment questions a statem ent
la the proposal th at fibrous glass could
be considered a substitute for chiyaotils
In embertring materials
The Commission concurs with this comment; It la currently unaware of any manufacturers or distributors who use or know of tha use of fibrous glass for this purpose. In addition, from a technical viewpoint, class fiber* are not similar la alia and shape to ehryeotile. Unlike the rod-like glass fibers, ehryeotile tends to bo curved, w bo cf curly fiber* or fiber bundles, comprised of extremely smalldlamstered fibrils. However, glass fiber* are similar--a t least In shape--to some of the amphibole aabestoe minerals. The diameter of most fibrous glass la report edly greater than 5-6 microns and con sidered too large to be respirable. How ever. glass fibers are not of uniform di mensions and a small percentage may be of respirable aiie. Additional study Is needed to assess the pathologic effects of Inhaled fiber*. Including fibrous glass.
B. Economic considerations. Six com menter* expressed concern th at the ban would have an adverse economic Impact
on the Industry. Five of the six are man ufacturers who commented on patching
compounds. The sixth la a distributor, of
gas fireplace logs. One patching compound manufacturer that some firms In that indus
try will go out of business should the i-- he promulgated. As noted below,
our studies Indicate th at soma small producer* may not .have the technical capability to reformulate their products satisfactorily or may be unable to obtain necessary raw materials by the effective da*^ of the **" Thus, some easy cease production temporarily, until such re formulation la achieved. Some of the large manufacturer* have Indicated a willingness to license their asbestos-tree formulations (or parte of them) to sm all-
ftrrwa. Two commenter dleeussed potential cost effects of the baa on patching -- mit, other than thou relating to
tha product itself. One patching com
pound producer estimated at M percent
the lneneaed "workload" eseoclated
with tha professional application of noa-
sbeetea formulations because of differ
ent performance characteristics. The
Commission has investigated the poten
tial Increase in direct labor costs as
sociated with
ubeetos tad non
esbcatoe formulations; It estimates ea
in<uei 16 to 39 percent average Increase
a a result of switching from the former
to the latter. O ther east* may aeerue to
professional users of the product should
different application tool* be needed at
.hnnirf none Jobe have to be redone to
tha relatively poor Xirtnk- and ereck-
rmUtenea of seme non-asbestos formu
lations. These Increased caste ere ex
pected to
over time a formula
tions Improve and as appUcaton become
more accustomed ts using ntm-asbeotce
formulations. .
.____ ,
One r"""r*"T which may be tdvereeiy
affected by the proposed baa report*
th at attapulgite. ea* of the prime up-
ititutes for ubestoe In patching com
pounds, 1* In "limited supply" ad th a t
game small manufacturer* may have
difficulty In obtaining th at material.
Other Industry sources have reported
this same problem. The larger patching
compound produces*, who already have
ubeetos-free formulations on die m ar
ket, are not expected to have u
much difficulty In obtaining substitute
m aterials.
.
Two manufacturer* discussed the ban's
potential advene effect on the utility of
tha product One expressed a belief th at
non-asbestos formulations are Inferior in
performance to aabestoe formulation.
Another reinforced that belief, reporting
th at the **------ of ubestoe fonaula-
tions may prompt workmen to add their
own ubestoe to the product to help pre
vent eneklng when wall Joints are cov
ered. However, the addition of ubestoe
would be tantamount to manufacture of
the banned product sad would thus bo
prohibited. I t appear* that at least some
existing non-asbestos formulations may
standpoint, to professional contractor*: most consumer applicator* a n so t ex-
room oirm t, vol s i, no. is i--muKSQAr, oictM ii* is, tire
63360
n a etsd to perceive ft sig n ific a n t d if f e r
E T to a pro d u ct' p e r f o r a ta .
As I* indicated to the proposal tha
CoauniBdaB If aware that tconomle lmo*eto af Tirylnf degree* win occur aa i^ U u lt of tha to o on tohalahla asbestos nf.i! patching compound* and
materlala containing ree-
treble free-form asbestos. Also, tho fft,.m ttnp 1 aware th a t technology for producing u b a ta - lr w patching, compound formulattooa la becoming mm generally available. The aconoade u --- 1 Ul tend to be reduced over tone ea non-tabto* formulation technology becomee more widtapread and aa whatlag recent formulations are Improved by manufacturer*. The nature and extent at the effect on the toduatrtaa axe dlaeuaaad to the S n riro cm en tsi and Eecnetnle Aaaaaamenta now on file to the Oflee of the Secretary and worn ddarad by tha Cnmmlaalna during this rulemaking prccaaa.
T. Other commend*. (1) Several commenteie auageated th at tha rnmmlmlon nould tovaatlgata other products con* .win asbestos to order to determine the exlitcace of peaalble hasarda.
In tha prepoaal. tha commission noted t-K.t information on other products eon-
infaalabla aabeatoa would eonttoua to be developed to order to detar. min whether further regulation la neeeaaary. Accordingly, the staff has begun to develop plans for collecting sueh la-
fonBfttton.
*
(3) One commenter suggested th a t
tha Commission lasua a rule th a t would
prohibit stockpiling of th a banned prod-
U fitle
Section 9(d) (2) of tha CP8A prorldea
fc-t tha Commission may, by notice and
comment rulemaking, prohibit a manu-
faetuzer from stockpiling a product for
which a fowimi-- product safety rule
has bft promulgated. la this ease, tha
baa on <wnmj patching compounds
oovers tha manufacture and initial In
* troductlon of products into eommerea 30
daya after promulgation; tha ban on
artificial embertxlng materlala coven
products to eommerea on the date of
promulgation. Therefore, to practical ef
fect th an would not be time for manu
facturers to stockpile; nor would there
be *(" prior to theae effective dates for
nodes and comment rulemaking. -
(3) A oocnmenter expressed concern
th at the
products be kept out
of international eommerea.
17i Commission notes th a t this com
ment le directed not to tha proposed rule
but to its enforcement. If this m atter
honiit fcx-w a problem It would bo
considered to the context of enforce
m ent.
'
(4) Several comments auegaated edi
torial changes to tba proposal. Thesa
suatesttens wan considered and, where
appropriate, have been Included hereto.
D n c u rn w or n ta Bur
The banned product*, parts ISM and 1305 declare, respectively, th at consumer patching compounds and artificial embHang materials (embers and ash)
SUIES AND REGULATIONS
containing respirable free-form asbestos a n banned hazardous products under
saetlon 3 of tha Consumer Product
Safety A ct
'
,
Scope and application. The rules apply
to tha named consumer products that
are customarily produced or distributed
for sale to or for the personal use. con
sumption or enjoyment of consumer to
or around a household or residence, a
aehooL to recreation or otherwise, to ad
dition to those products which can be
rold directly to consumers, tha ban op*
pdas to tha
consumer products
which era used and enjoyed by consum
er!. such aa these used to residence,
schools, hospitals, public bulldin* or
other areas w hen consumer* h a n cus
tomary access, whether tha patching
compounds are applied professionally or
by consumers. Only consumer products
a n subject to this regulation.
Pfctehlnc fwwnnimrfG which u v con*
nm erpctriiubilneluda those which a
fwaflfKtwwm e ta p in rh iT U cK v labti*
| | |
for ifldUltliil
us* would not exclude sueh articles from,
tha b a a If tha sal# or tm of too
product to consumer la facUltatod.
It la subject to tha ban. Pitching
pf|wpinmi<i which ere labeled Ut wnf*
keted. end sold solely for industrial use
in
earirenme&ti i n not
subject to tha ban. The ban appllaa to
patching compounds containing inten
tionally-added respirable free-form as
bestos sold directly to consumer* and to
thoaT which a n used to residence,
schools, hospitals, public buildings or
other areas w hen consumers have eue-
lternary access.
.
< I ffeettoa date*. (1>. The rule a t P art
1304 below appllaa to ennanmer patching
compounds containing respirable freo-
farm asbestos th at are manufactured or
1-in-iiy introduced Into commerce on
January IS. 197B. or after that data. For
u other consumer patching compounds
containing respirable free-form asbestos,
no m atter whan manufactured or ini
tially Introduced into eommerea the rule
at Part 13M applies on June 13, 1373.
end after th at date. This meens th a t
30 days altar publication of tola ruin
manufacturers a n prohibited from man
ufacturing or shipping the product to
distributors, retailers, consumer or to
others for application to consumer envi
ronments. Further. 1M daya after publi
cation ot this rule, distributors and re
' tallan willbe prohibited from selling, of
fering for salt or distributing to com
merce tha described products, no m atter
when manufactured or Initially Intro
duced Into commerce, to distributors, re
tailers, and users. (3) H u rule a t P art 1305 below applies
to artlfllcal emberising materlala (embers s u b ) containing respirable free-form
asbaatoa that a n to commerce on De cember 15. 1377, or after that date. This prohibition applies to products in Inven tory aa well as to those manufactured on or after the effective date.
The Administrative Procedure Act (5 U.S.C. 553) which governs the m atter of effective date for banning rules under the
CPSA, provides th at a rule should be pnhith-H so days before its effective date .mi-- , the commission prorldea other
wise for mod cause found and published
with tha rale.
t
Aa dmcribed to the discussion above
on effective date, toe Commission Is con
cerned that ordinary household air cur
rents to homes that contain artificial
mhHring materlala, can cause continu
ing exposure of consumers to the respira ble free-form aabeatoa In artificial em ber* gnd ash. It appears to tha Commis sion, therefore, th at these produet* xhonH be removed from commerce aa ex peditiously s i possible m order to avoid having m ih m ii number* of consumers unwittingly purchase these materials. The Commission finds there la good cause to Issue toe rule on artificial embertxlng m .t--<1 effective an to* date of pub-
Fm nrM
1. CPSA Section (. Section 3 (1) and (3) of tha CPSA. require that, before tosuing ft eooiuBUf product tticty nil declaring a product to ba a banned haaardoua product, the Commission must find (1). th at too product presents an mmauonable risk of Injury and (3) th at no fouibl* safety standard can ade quately protect the public from the unreeaenable risk of Injury mandated with
|the product, (a) Unreasonable risk of tnfury. Tha
Iregulation* are intended to reduce or teliminate tha unreasonable risk of Injury to tha public from cancers such aa lung -- -- in * mesothelioma. The risk la
associated with asbestos fibers which
are not tightly bound Into or encapsu
lated to the composition of a product.
The health risk occur when aabeatoa
fibers
airborne such as by mix
ing, --"*ig, or Cleanup operations when
using patching compounds, or by tha
effect of ordinary household air currents
on artificial emberiatog materials to
fireplaces. Zests show that certain malig
nancies are related to aabeatifoim min
erals;
can arise 30 or more yeezi
after occupational exposure. However,
1 reported are malignancies from In
direct, noc-occupational exposure, fix a
recent ease, the court recognized a study
en asbestos exposure elted by the En
vironmental Protection Agency at 40 F it
48335, showing "new biological evidence
supporting too significance of single,
short-term exposures One-day in
halation exposures to animal experi
ments have produced an Increase to the
Incidence of mesothelioma.'* rational
Association ot Demolition Contractor*
v. tnvironm cntol Protection Agency. Civ.
No. 74-1545, 73-3075. D.C. C lr, October
IS. 1377.
_ __ ,,
The information on which toe Com
mission made the determination of un
reasonable risk consists primarily ot
data on exposure of industrial worker*
to respirable free-form asbestos. Infor
mation on exposure of the publle to to-
halable asbestos to Individual consumer
products la limited. However, is la evi
dent from the extensive bibliography in
cluded herein there la geeni1 =intoie
m o a t u o m u , vot. as, no, sai--thubsat, d k u u si i *. t* rr
RULES ANO REGULATIONS
63361
handicapped persons to determine the
11. B nterllae P.. aad Hendereaa: T.: A Model to r Extrapolating to Low Levels of
ad medical agreement th at tiieie U " extent to which such persons may be AsM ttfli BaQVUtt pT M ^tid i t OoBinae#
known thm hold level ^ *Meh t* adversely affected by such rule. The en Probisms' of x n n p e u tisg tne a u ite ef
iaia lor people to b# exposed to ressu- Commission has considered the needs Laboratary -1-- 1 Data to Mm od
**$? Mtod,0^
theMPropoeal. lahdlehle
and has determined th at no adversa ef K m eo latln g the Raoul trom High D o fect on elderly or handicapped persona LevM Shperlmente ta Low S o u level SrfO-
.B..a_tc_h.i.n.giacothmephoouunsdeshosladdfraormtifcicoinaslumfe1*r will result from this regulation. It la a
tu re. Ptnohuret. N.C. (Maeeh IBIS). i entarim e, P-. DtCoufit, P . sad Kendo?-
berirlng matertaU presents a p e a t risk
.'ethluedbinegst
inte the
rest of th elderly
e en and
tire publle. Inhandicapped,
w n ' M ortality la Reiatloa to OeeupoUonal Exposure la the Aebeetoe lxi'JMtrf-J-
due to the presence la the household of Demons, such as children, who nap be
that these hazards be reduced.
of Occupational Medilas H (12). BB1-B03
particularly vulnerable to carcinogens.
3. CPSA Section 9(c). fieetlen 9 (0 of the CPSA requires that prior to promul
(>i l b tle k a a p . t . B . ond
? rj
Because of the long latency period, ex* gating a consumer product safety rule PerltobM l Tumour* la Asbootoole S rlt. J. lad .
Msure to inhalable asbestos In the home the Commission shall consider end shall
can be We shortening lor children. The commission notes that consumers are
-- v . appropriate flndlngi for inclusion
" I t 2 E Z 2 2 S * * . pu=d: w w tor Aetlea under m otion 13 of th e CPSA
exposed to asbestos Iron sources other
in such a rule as to: (1) The degree and nature of ths risk of Injury the rule Is
gainst fireplace le a d Logs Containing
n... the banned products. However, eon- rttaigneis to eliminate or reduee; (2) the U ^ n i t S S r o V e.: a M orttllty Study of
mmers whoare posed to ssbestoe fibers from patching compounds and artificial
Donxlmatg number of consumer prod
Shipyard w o rsen end W f * 1
B J`
embers and ash receive additional doses
ucts; or types or classes thereof, subject to rich rule; (2) the need of thepubuc
la d . M ed. : 143-141( " >
, ..
1. Greenberg. M , end PT,*^ A- ^
of asbestos and can be asum ed to face for the consumer product subject to MaeotbiUoma Register 196, Br. J. lad . M .
a sreater risk than persona not so ex posed. and e greater cumulative risk then-
such
rule,
end
the
probable
effect
of
S1:B1-104 (1BT4). _
.
IV. w----- a, I . C . BeUkoff. I. t . *oA
if no ssbestoe were present In the general
such rule upon the utility, coat, or avail ability of such products to meet such
C h u n , J .t Neoplasia Among lusulaU oa W orta* la th e V a lt S t with Special
environment. In determining that the .risk of cancers
need: (4) any mean* of achieving the effect of the order while minimising ed-
Boferenca to la tr a Abdomlaal Neoplasia. Abb. N.T. AcmL BeL 1:51B-SU (1B9B.
U unreasonable, ths Commissian con verae effects on competition or dtaruptton t l. TTamninrt S-Cn S^Ukoffr L
cludes that the degree and nature of the or risk of injury and the probability that
of manufacturing and
latto a of C ttarette SoMKlbg to Risk of Death ef b eetea flee-- ' D i n Amobg B u j* '
the risk will result In harm outweighs the
other commercial pisctices consistent latto a W ork-re la the U n it Btaue. pp. 313with the public health and safety; (5). 31T lateraatloaM l Ageate for Baeeareh oa
rules' effect on the products* utility, cost and availability to the consumer.
S a t the rule U reasonably neeaeaasy to
<b> ffo feasible tafetv standard. The
eliminate or reduce an unreasonable risk uiociated with such produet; and (>
C ,S u n a n o * p . a .: Docfcynds Ana. Oeeup. S ff.
Commission 1s not aware of a technically feasible procedure for removing the
that tha promulgatloo of the rule Is h
^ a lis e a a , n y rn l M. e t el: The etgalflsaaee
hazards of eaaeer from respirable free the public Interest (19 U-S.C. 2099(0 >. of Asbeetoe kzpoaure la tbe p ngnrele o
form asbestos In the named products.
The f-***1*-- required by Section 9(c)
MeeethiUMaa: A 3* year m pertenoe from e uejme v rta a Hoepltal. t o r . Bev. seep. Die.
The commission believes th at not all patching compounds present an unrea
of the act have been described generally m the preamble and are incorporated in
llSsTSl--V (1BV7).
--
,,
31. Hug. t . B . Itimmema A B . D lag. C.
sonable risk of Injury to ths public, only patching compounds containing respir
II 1304.5 and 13.05.3 of the rules below.
A_ W hltifleld, B. L - ead QMefcwa. O- O.i Asbeetoe: A a Overview. Env. Chemleals
able free-fona ssbestoe. The hazard as
Human a ad *---i Health 3rd Annual Ooa-
sociated with this product ia caused by 1.
h. A, LUIS. a , seuaa s ,
the free form Is which ths aebeetoe ap m eSbtta, A. 8 . IBA flellkoff, 3. I.! HOUsahold-
fan uos pto ceertin _ a . IAHO W erklag Oroup oa the B valuattoa.
pears. A safe level of exposure to free
Coatast Asbestos Nooplaatla BUS. Aaa. N.Y.
of th e Caietaogeale * 1 of Chemicals to u . veim Monograpbo oa tb e xvaluadoa or
form asbestos Is not known. Therefore. It does not appear that a standard for
S -
*
B ct. -abasto
1
s
:311- * lalerm a
* tiaa
J)ae
c
e
.:
, .___ . In feras-
th e CarelBogeBle Risk to Moa: Asbooto* In ti Axeney far m oeereb en Coaew. 1BTT.
patching compounds containing
respir
non iroas Xepieeentatlv o the Asbestos la tsm ational Aseoelaaoa Confsmaee, Sam
7- late ra re n er Collahoratlvo Ontuir on
able free-form asbestos la feasible. Ths product artificial emberlzlnc ma
bute! o eraaay, 1W0.Ju n e 37. l,TT
,
S. S arro .. U , coaetaa, A. Llvaraose. L. L.
E avtnernesU 1 Cerrtnogene. lBth. MMttag,
s m . Aug. 14.1BTI.
^
terials for fireplacet, containing respira ble free-form asbeetoe Is used only is dry
a d B cbltt. N. M amthelloma aad t u Aoeoctattoa W l Asbesto* JAMA ( ) : -
14. Joseo, H. S , end Orlndoa. A : E nrlrontsentel P oetan la tbo O rlfla of Caaeor oad
form. Thus Individual asbestos fibers are never bound together. If the asbeetoe
(1**C'nao. Consuaer aad Carpanta Agata.
m ttm atloB of tb e Forcible Hsxord to Man. Pd. Coem et. Toxleol. l:M l-i (I*''* )-
fibers were eosted by another m aterial to
standard* DUectarate, Produet 38. LUllngtos, B. A et >1: CobJugal Malig n an t Mesothelioma. New m g . J. Med. 3B1
bind the fibers. It would no longer be the
gafete Braaeb. Asbeet Id Toy* tensa No. 1 June, 1918.
(11): SO-SM (Sept. 11
same product and would not give the de sired decorative effect In considering
fc D ep e n m en t of Labe*. O eeupauoaal garete *ad B aalth Admlaiawstloni Aabeatce
IS McDonald. J. C- McDonald, A Qibbe, A i r , i t i l l The Health of CbryeotUo
the dry character of the product and the fact that a safe level of exposure to res
Dust standard. X O I U U JS a d B m m a t at Labor. O ccupatioaal
AsbmUa *" and Mill Worket* of Quebec.
Arch. la v . H ealth U : l 1914.
, _
pirable fn e-fo ra asbestos 1s no t known,
gafete aad H esita A dm ialstratien: oeeupa-
n . Mekwea. J , P lnlajaoa A. Mali. A_ and Olbeoa. A A M.: MaeotbiUoma la Scotland.
it does not appear th at a standard for artificial emberlslng materials contain
tlo aal Ezponuv te Asbeatoe. Notto* Pre p e a nulraaSS ag. f l ToL 40, Na. lev, pp.
Br.M ed. J.A .e14-i1* (1910).
.
a . Moreweathor. A A A , and Price, C. W>.
ing respirable free-form feasible.
asbeetoe la
4 7 ss3 -sis , (O es t , ib is ). T. D epartm ent o f la b o r. O ceupatloaal
Sfete aad H ealth A dm laiatrattoa: Aeheatne
i ^ t n tbo aeon of Asbootoe Dust oa tM L u a oad Duct Suppremlou la Asbmtoe
The Commission believe* th a t no Dum la tb s O oostruetloa ladrw try. Pro- lad u itry . HAL Stattoaery Ooo, London
standard can render the defined prod UBlaary D raft: Teebaleal peeHhUlte Aoeem- ^ M ^ ational tao tltu te for Oceupottoual
ucts non-hazardous and concludes th at n a a v Spackllag >ad DryekU Jo la t Com- B-feer oad HeaKb: Crttarla for a Beeom-
only hamnwg th e products can ade sounda. 0. H *. I >tn)
S m a S rd . . . Oceupotloaol E x p
quately protect the public from unrea L B d iC j . B-: Asbestos Xalated S isea la
sonable ilska of injury associated with nurew m ruinera Ser. Bee. 11:S44-S47 'm3 f S S ? \ i L , and Berr7 O , The
them.
^r^B aM , F. c. aad -*--r*"" M. J. C.: Zara-
Blah of Developing MmotbsUoma Among Werfcan la ea Aabm t T trtlle P agote^XYg
2. CPSA Section Kb), fiectlon 0<b) of latan Worfcete U B eiru t s. M artalitp 1B40- zatornadoaol Congnee on^ Oeeupatloa
the CPSA. IS T7.8.C. 2051(b), as amended, M. B rJ. Zad. Mad. 38: 33-338 (1911).
BM ltb. Bristol Baflft&d (1975).
requires the Commission to consider and 10. IngUnd. Bealtb aad Saety Eme. D rpt. at TfiThm iit 1L Lea u d Tfcottpooo Be.
take into account In the promulgation ef F re ta d Coasumer Frateetlon. A a b t
m n d Peritoafta M -
of a rule the special needs of elderly and Labellag Seheme. AprU IBIS.
rtfiiiui ueism vbl is* wo. 341--tmuisoat, dccimiek \h 1 n r
6SM Z '
l mint n m n to Aabaatee ta the lao d o o a r t t T l a d . Med. 33:301 (10>**5? H avtioux, M.: Aabaatee la the W ert FUee sa d th a com m unity. Ana. Oee. Hyg- M
^jaf^Nawboua*. M. \tn sod Barif, O- Pi*eiettena of MonaUty tram MesotheUcma S m e u is la Aabaatoa Faetoiy W ortata. Br. J .
2 3 ^* 4 .8 8 :1 4 1 -1 0 1 (1070).
_ .
M. Nswhcuse. U . L- mad Barry O.i Aa-
b a n * and laryngeal Carelaom a Lancet. a:
^ ^N telaon. W. J.i Caa* S tu d r 1: Aa-
baatoa U ta TL7 Approach. N.T. Acad. Bd.
a n : taa-iee ( 7 8 ).
30. Kohl. A. N . a t at! Exposure to Albotoo
la tha Vaa-et consum er Speckling, Patching and Taping Compound!. Sclaaca IBS;681-65*
(Au7..B1a8l.l1k0o7ff8. )L. J .: Aabaatoa aad Neoplasia.
Am. J. Uad. 3(4) : 01-40 (1007). S0. Ballkoff. I. J . a ad Hammond. I . 0.:SZ
Community Iffeeta of NonO ccupational Xnrlro u n en ta l Aabaatoa b p eau i* . Ata. J. Pub.
Health 80(0): 10B0-18M (1000). 39, siifcaW. J. J., C hurf. J , and Hammond.
B. c .: Tha Oeeuiroaca of Aabaatoau Amonf workam la th a H alted States. N.T.
aA of Set. 1 M :1 - 16S (1000). to . SaUkoff, L J - Hammond, B.' o H aad
C biut. J-: Aobaatoo Exposure. Brnoklng, and Naopiama. ja m a a o t(3 )io 0r i ia (isa* ).
1 . SaUkoff. X. J Hammond, ff. C . aad Boldmaa. H.: Canear Kick of Tnaidatln* W ortar la th a C hitad Btataa. pp. ao*-3l0 International A p n c f for tlaiaarch an. canoar
(1B?9)t
' 43. Ballkoff. I. J , Hammond,' B. C,, aad Chur*. J.: C aiem oaanleltr of Amceita Aa baatoa! Arch. Sna. H ealth 38:188-100 (1078).
48. SaUkoff, Z. J ,, Nlchalacn. W. J , aad L an itr. A. M.; "Aabaatoa Air Pollution"! Arch, Environ. H ealth, 30:11!, July 1073.
M . Bhaara. a .: Xffacta of Aabaatoa la Dock yard WofkAm. Bf. Mad. J . 0:674-070 (1000).
40. Stoll. P. u , and MeOlU. T.: Aabaatoa aad Laryn t aal Carelnom a. lA heat 3:41S-417
(1073).
*
43. Btumphiua. J .: Epidemiology of Maso-
thatlem a on W alchasan Island. Br. J. la d .
Mad. 30:08-60 (1871). 47. W agner. J. O . Blatm , C. A . and Mar
chand. P.: Btffua# Plauiml M aaothalloaa aad Aabaatoa Xtipcoui* la tha N orth W astam Capa prorlnoa. B rit. J . la d . Mad. 17:300-371 (1080).
40. i n c u r . J. C.. a t al.: Tha Effacta of th a Inhalation of Aabaatoa la Bata. Br. A Cancar.
38: 303-308 (1874). 0. Wabatar, I.: Aabaatoa a ad Malignarmy.
BA. Mad. J. 47:100-171 (1000). 80. WhltweB. ff, aad Xavcllffa. B. M.: DU-
fuaa M alignant Plaural Maaothalloma aad Aabaatoa Bepeeure. Thoraa 30:833 (1071).
81. Kearney, A. T .: Economie Im pact Assasneaent of tha Prepam d Baa of Aabaatoa Containing Patching Compon nda. October
10T7. 83. Bohl, Am lan g e r. A , and SaUkoff, I.:
B aT iroaaeetal Aabaatoa Pollution Bolatad to
Hat of Q uarried Serpentine Bock, adeaoe, . IBS. pp. 1310-1023, JU U IT, 10TT.
88. Bavard. 0L: Memorandum . B lik eg Booplmtory Canear D u to Lov-Leral Expo
no* to Aabaatoa from panning ta d Jo in t Taplag Compound*. J a u A 1877.
0. Bayard. 8.: M emorandum ta H i! Be-
ipoaaao to Cemm aata. Oetnbor 1977.
50. Thempaoa, J. (1- Ann. of N.T. Aoad. SdL 103:100-814. 1008.
50. Dope, of Interior,- Bureau of IB a n : Saleetod am ento M lncrala aad th eir Aeboatifo n t Vkrlatias. 1177,
07. H am aaton. J. B.. at al.: Minorai P ihan: Chamlnal. Phyiieoehem leal and Biological Proparti**. A ir. PharmaeoL Chamothar. 13 1 -4 0 3 .1318.
50. Stanton. M. D .' Boma Bttologieal Oon(deration! of PIbar Carelaogaaaala. Biological
MILES ANO REGULATIONS
effect! at Alberts*. IABC Publleatlon No. A pp. 300-304. LyoA 107*.
CoirctDHON
Upon considering the published pro posal. the oral sad written rmponau to the propose! and other relevant material, the commlsclon nq" eonsuiBer patching compound* and artificial embodying nm-
trial use In non-ooQSumer earironmaate
are not subject to the bam In addition to those products which can be sold directly to consumers, the ben applies to patching compounds containing respirable free form asbestos which are used In resi dences, school, hospitals, publie build ings or other areas where consumers have customary access.
terials (emben and ash) as set forth below.
8 13044
Purpose.
Accordingly, pursuant to provision* The purpose of this rule is to ban con
at the Consumer Product Baiety Act sumer patching compounds containing
(section! 8 and 0. 08 8 ta t 1315-17, a* Intentionally added respirable, tree-form
amended. M S U t 50, 15 Ufi.C. 3057, Mh-yt'w These products present an un
3055), new Parti 1304 and 1305 a n added reasonable risk of injury due to Inhala
to Title IS. Chapter 22. Subchapter B, tion of libera which increase the risk of
as follows:
developing cancer, including lun* ce
PART 1304-- BAN OF CONSUMER PATCH
and waanthriioms- diseases which have been demonstrated to be caused by expo
ING COMPOUNDS CONTAINING RESPI RABLE FREEFORM ASBESTOS
sure to asbestos fibers.
Sec.
J
(1 3 0 4 4 D efinitions.
1304-1 Beope ta d appU catlsa.
(a) The definitions In section 3 of the
.13043 Purpose.
Consumer Product Safety Act (15 H3.C.
1SMJ DiftBltSoaa.
2053) apply to this Part 1304.
1304.4 Conauatar pateblng oompouada aa (b) "Asbestos" means a group of min
baased h aaard o u products.
eral fibers composed of hydrated *U1-
13040 Hlndlnr.
catea oxyien, hydrogen, and other ele
Au n to k it : Sections A 9. 00 8ta t. 1318 ments such aa sodium. Iron, magnesium,
1317. aa amat'deo M B tat. 50, II U 0 .0 .3007. m.nA calcium In diverse combinations and
300A
are; Amcalto, cbryaotlle. crocidoilte,
ft 1304.1 Scope aad appliealloa.
aathoohyUlt* asbestos, actinolite aabea-
(a)
In
this
Part
1304
the
Conaumer
. tan and trsmollt* aabeatoA (e) `Tree-form asbestos" la that,which
Product Safety Commission declares that conaumer patching compounds contain
la hot bound, or otherwise "locked-ln"
ing Intentionally-added respirable free
to a product by rsina or other bonding agent*, or which cen readily become air
form asbestos in such manner th at the borne with any reasonably foreseeable
Bebeitoe fibers can become airborne under reasonably foreseeable conditions
UM>
`
of usa are banned baaaidoua products
(d> "Patching compounds** are mix tures of talc, pigmenta clay*, casein,
under sections and 9 of the Consumer ground marble, m ica.or other similar
Product Safety Act (CPSA) (IS 0 4 .0 . materials and a binding material such aa
3057 and- 3055). This ban applies to r-fa-M-ig compounds which a n (1) used
aihmfna which are sold In a dry form
to coyer, seal or maak eracke. joints, holes
ready to bo mixed with water, or such combinations In ready-mix paste form.
and similar openings In the trim, walla, celling, etc. of building Interiors, which
(e> "Consumer patching compounds"
are
th at are customarily produced
after drying a n sanded to a smooth and (3) a n produced and dis
or distributed fer tala to or for the per sonal use, consumption or enjoyment of
tributed for sale to or for the personal use. consumption or enjoyment of a con
consumers In' or around a permanent or temporary household or resldeacA a
sumer In or around a permanent or school, in recreation or otherwise.-The
temporary household or residence, a Commission consider that patching
school. In recreation or otherwise.
compounds for application In those con
(b) Tha Commission has found that sumer environment* are either distrib
(1) these patching compounds are being uted for sale to or are for the personal
or will be distributed In commerce; (3) nf or enjoyment of consumers. .
that they present an unreasonable risk of injury; and (3) th at no feasible con
(f) "Intentionally-added ashestea" is t. km^ . jrtfich U (l) added deliberately
sumer product safety standard under the CPSA would adequately protect the pub
aa an Ingredient intended to impart sp
lie from th* unreasonable risk of Injury
cifi characteristics; or, (3) contained In the final product u the result of know
with thee* products. This rule apptiea to the banned hazardous products
ingly
a raw material containing
defined In section 13040 and described
MhMtoo Whenever a manufacturer finds out that the finished product contains
^further in section 1304.4. (e) Only consumer products are *ub-
asbestos, the manufacturer will be con
Jaet to this regulation. Patching com
sidered a* knowingly using a raw mate rial ""taiT'inf asbestos, unless the
pounds which are consumer products Include those which a consumer can pur
manufacturer takes step* to reduce the
chase. Merely labeling a patching `com-, asbestos to the maximum extent
pound for Industrial usa would not ex feasible.
clude such articles from tha ban. If the (g) "Initial Introduction Into com-
sale or use of th* product by consumer* P.WM11 occurs when the manufacturer
la facilitated, it la subject to the ban. ships a product covered by this regula
Patching compounds which are labeled tion from a facility of the manufacturer
aa, marketed, and sold solely for lndus- to a distributor, retailer, or user.
FTDEIAl tfOlSTCA VOL 43, NO. 341-- THUtSPAV, BlESM ii! 10, 1977
RULES AND REGULATIONS
63363
I 1304.4 Consumer patching compound* posure to inhaleble asbestos la In the of ssbestoe formulations) are affected by
u banned hazardous product*.
homd,
the 10-28 percent Increase. The burden
Oa the basis th at airborne asbretna
(b) Products subject to the ban. Conof this coat is expected to fall directly sumer patching compounds u defined in on owners of existing homes who may
flben present the hazards of cancer, in 1 1034.3 (d), <e>. CD Include such prod engage in some renovation, tnd on pur
cluding lung cancer and meiotheiiosia uct* as drywaU speckling compounds and chasers at newly-renovated or newly-
to the pubUe, consumer patching eompouadi containing intentionally-added,
tape joint compounds (commonly known as "joint cement" or "tape Joint mud").
constructed homes. These increased costa are expected to diminish aver time as
respirable tree-form aabretoa, which have been manufactured or Initially in
The commission estimates annual ship ments of patching compounds subject to
formulations Improve tnd aa applicators become more 'accustomed to using non
troduced into commerce after January lfl. 1878. arc banned hazardous products.
the ban at approximately 30-50 million "units." or Individual packages, of vari
asbestos formulations. The use of asbes tos substitutes may also lead to coat in
In addition, all other consumer patching compounds containing intentionally-
ous sizes from 0.5 to 28 pounds (dry) or 0.S to 8 gallons (wet). The Commis
creases in tha manufacture of patching compounds. The Commission estimates
idded. respirable tree-form asbestos, no matter when manufactured or initially
sion believes that about half the patch
this cost, which may vary widely from
Introduced into cdhuaeree. are banned
ing compounds sold in 1977, and intended for sale to or use or enjoyment by con
firm to firm, a t an average of 5-15 per cent. This la made up primarily of in
hazardous products after June 11, 1878. sumers, were formulated with asbestos, creased costa of raw materials and of
1 1304,5 Findings.
kfany others containing significant levels formulation research and development.
(a) The degree and nature of the risokf asbestos contamination will also be o f Injury. The Commission finds that the affacted by the ben.
It la expected th at tha pries of many p.-hiT,y compounds may rise as a result.
risk of injury which this regulation is designed to eliminate or reduce Is from
(e> Need of the public tar the product* and effects of the ndg oa their utility,
Producers, distributors, tnd retaller of compounds may also have to
cancer, including lung cancer and mesothelioma. In assessing the degree
cost and availability, patching com pounds. though used primarily by com-
Incur easts
with the disposal
of products in Inventory. The Commis
and
nature
of
the
risk
of
injury 'm ercial eonstraction workers, are also used by consumers, and are used for the
sion retimetes th at the wholesale value of manufacturers' end distributors' In-
to consumers, th e Commission has reviewed experimental data and hu
ottchlas and irv""g of cracks and Joints
ventoriee a t the time the ban beeomre
man experience information. The Com
in and around the household and in other consumer environments either by
effective will be approximately 115 mil lion. These costs may be reflected In the
mission noted that in the scientific literature, there is general agreement
consumers or professional applicators. The compounds are used to eovar areas
prtere charged for asbretoc-fne patching compound formulations, and In the
th at there is no known threshold level below which exposure to respirable free
on gypsum drywsll which might other wise be aesthetically undesirable or
p ile of other drywaU and paint prod ucts. I t appears that, because of com
form asbestos would be considered safe. Further on the basis at such scientific
which might lead to structural dam an, energy loss or lower property value. Use
petitive pressure from asbretca-eontalnlng compounds, producers of asbestos
opinion, it appears to th e Commission that children are particularly vulnerable
asbestos In these compounds acta aa a
tree formulations hava not yet passed on to purchasers their increased coats.
to eareinogena because of their longer potential lifetime and their tepid- rate
structural reinforcing agent which helps to reduce cracking and shrinkage of the
If the Increased production coste of as
of growth. In areas of the country where
compound over rim e and which renders the compound more pliable or "work-
bestos-free formulations can be passed on completely as a result of the ban, the
asbestos may not be prevalent in the en vironment the major risk of exposure for
ib is'* ucQ& iDDUcstion. (1) Utility. The elimination at ssbestoe
to ta l! price effect for the year fol lowing the issuance of the ban may be
children and othere may occur in the household. In areas of th e country where
from these products may result in the
110-880 million. The magnitude of this effect may be reduced significantly in
more ssbestoe fibers are. present in the environment the public is exposed to ad
*p------1 use or new development of substitutes which hava similar proper-
sueeesslve years following the Issuance of tha ban as producers1development costs t
ditional risks from the presence of as bestos fibers In households and other
ilea to those of asbestos, or which im part 4wiiisv qualities to the product la cur
are amortized, as raw materials become
consumer environments, the Commission concluded on the basis of th en factors
rent reformulations, asbestos la replaced by a combination of substances, of which
more widely available, and ts price com petition is strengthened because of mar
th at consumer patching compounds con taining respirable tree-form asbestos
the moat common Is attapulglt*, a fibrous clay. Some non-asbestos formulations
ket pressure economies of scale as sociated with production.
present an unressonabls risk of injury to
are reportedly not as effective as those -wHteiwiwq asbestos In controlling
(3) Availability. The supply of asbes tos substitutes, particularly sttapulgite
the public. In addition, a risk assessment was made. For purposes of this assess
shrinkage and eracklnr over time. The
clay and relatively uncontamisated talc,
m ent the Commission considered the use of patching compounds by the consumer,
workability of soma compounds may be iHmiwi-hsrf h welL This may adversely
for use in the manufacture of patching compounds may be Insufficient to meet
for six hours a day four times a year, to be a high yet reasonably foreseeable ex
affect the utility derived from the prod uct by eonsumsxa; and by professional
the short-run demand which Is expected to be Hwinuiad by the promulgation of
posure. The increased risk of death from respiratory cancer induced by this ex
contractors uadi such time as improved formulations era developed and available
the >w Further, many small producers probably lack tha technical capability to
posure Is estimated a t between 10 and 2.000 per million. For five years of ex
to and-uaere.
.
(2) Coil. Asbestos-free patching com
reformulate their products, and may be forced to cease production, at 1---st until
posure at th en levels, the risk increases geometrically and is estimated a t be
pound formulations may require more time to use. This would tend to Increase
formulations of satisfactory cost and performance are developed. This may
tween 1,000 and 13.000 per million. The lower estimate of 10 per million is closer
the direct labor coots of residential and other construction and renovation. The
affect some professional contractors. In the short run, consumers may be in
to the actual risk for a one-year ex posure. Nevertheless, is view of the seri
expected increase is betwem 10 and 35 percent. The Commission estimates th a t
directly affected by delays in drywsll wwi.Mw u d building completion.
ousness of the Injury and the cumulative the
labor cost of drywaU finishing (d) Any meant at achieving the ob
effects of asbestos- exposure, even this minimum figure represent* an unaccept
in these consumer environments is on tha order of 81 billion. The use of non
jective at the boa while minimizing ad vene effect* an competition or dtinipticm
able risk. The Commission believe* that asbestos patching compound formula or dislocation o/ manufacturing and oth
reducing exposure to respirable free tions in all applications may increase this er commercial practice* consistent with
form asbestos in the home represents a cost by S50-S123 million, summing th at the public health and safety. The ad
substantial decrease in risk to consumers, roughly hall the current labor costs (l.e, verse effects of the ban on patching com
since, for many people, the major ex that portion now associated with the use pounds containing asbestos is reduced by
FTOflAl IfOUrCI, VOL 42, NO. 241--THUISDAY, DfCEMIU 15, 1977
63394
RULES AND REGULATIONS
yimiwmr the ben to intentionally added diseases which have been demonstrated or glued to gas logs, or sprinkled on fire
asbestos. Other alternatives such U to be eeused bp exposure to asbestos place floors.
limiting' the scope of the baa only to fibers. .
(c) Need of the public or the prod
products purchased and used bp con 1305.3 D efinition*.
ucts end effects of the rule on their util
rumere or to Issuing a baa with a later
ity. cost, and aeallcbtltip. Artificial fire
effective date, were considered bp the (a) The definitions In section 3 of the plaee emberlzlng material serves a
Commission. However, none was found Consumer Product Safetp Aet (IS O-H.C. strictly decorative purpose and does not
that would cause leae disruption or dis 2052) apply to this Part 1303.
.
materially affect the actual perform
location of manufacturini and other (b) "Asbeatoe" mnana a group of min ance of the fireplace gas system In terms
eommertcal practices, consistent with eral fibers composed of hydrated silicates, of Its ability to provide heatr A certain
public health and safetp.
oxygen, hydrogen and other elements degree of aesthetie desirability exists,
Conclusion.
The
Commission
finds
such ss sodium, Iron, magnesium aad cal cium In diverse combinations sad are:
however, since the product "system" it self (the gas log, ashes, and embers) Is
that this rule, Including its effective date la rtasonablp necessary to eliminate or
Amoaite, chrysotile, eroeldollte, anthophylilts asbestos. aetlnoUte asbestos, and
Intended to simulate burning wooden logs. Gas logs may be sold with artificial
reduce the unreasonable risk of injury from cancers such as lung cancer and
treaoU tt ubestofc (c) "FTee-fonn asbestos" is th at which
emberlzlng material attached a t the fac tory (the log commonly referred to as
mesothelioma th at are associated with the banned products described herein,
Is not bound, woven, or otherwise "locked-ln" to .a product by.reslna or
being "frosted"), or with the "embers" In a separate kit, often mixed with simu
that no feasible consumer produpt safetp standard under the Consumer Product
other bonding agents, or those from which fibers can readily became airborne
lated "ashes." Virtually all gas logs are either frosted or packaged with an em
Safety Aet can adequately protect the public from this risk, add that promulga
with any reasonably foreseeable use. (d> "EmbertJdng materials'*means an
berlzlng kit: however, the majority of gma logs produced In 1977 were packaged
tion of this rule is in the public Interest. asbestos-containing material generally with noa-sabcetos-contaialni emberls-
P--v--t in aa "emberlztns" kit to be )ng kite. The Commlwtoa estimates
PART 1305-- BAN OP ARTIFICIAL EMBERIZINO MATERIALS (ASH AND EMBERS)
placed under artificial logs In gaa-buniIng fireplace systems or in artificial fire
tnnual sales of artificial gas logs a t ap proximately 100.000 units. Some 25,000
CONTAININQ RESPIRABLE FREE-FORM places for decorative purposes. The prod 30.000 of these would be subject to the
ASBESTOS
'
uct Is alio glued to artificial logs, either ban. Approximately 100,000 gaa logs
ate.
at a factory or by a consumer using an frosted or treated by consumers with as emberising kit. (Synthetic logs manufac bestos are estimated to be in existence.
1305.1 Seep* and application.
1
1308.2 Puipoat.
tured of celluloslc products which are The Commission believes that the ma
1306 D afinltloni.
*
consumed by flames are not Included in jority of gaa logs am sold with ember-
ISOS-e Artificial finplaee aah aad ambers as this definition. Electric artificial logs and iting kite: this gives the consumer a
baanad b aw d o u a products.
artificial ash beds used In electric fire choice aa to whether or not to use the
190S.fi m d ln * a.
places, which do not contain respirable artificial embers and ashes.
A onueirv: Saei. fi. a. 90(d), Pub. L. ae- free-form asbestos are not Included in (1) Utility. Manufacturers of artifi
579. aa amaodad. Pub. L. 94-384; Sfi B tat. this definition.)
cial gas log emberlzlng material am cur
UlS-17, aa aaaaadad, 90 B tat SOS (15 V A C 9 1305.4 Artificial fireplaeo salt and rently using four substitutes for asbestos
2057, 20SS).
embers ss banned hazardous prod In their products: vermicullte, rock wool,
| 1305.1 Seope aad application.
uct*.
mica, and a synthetic fiber. None of the
In thli Fart 1303 the Consumer Prod
On the bash th at airborne asbestos
four is claimed to be aa aesthetically ef fective as asbestos. Thus, the utility de
uct Safety Commission declares that artificial emberlzlng materials (ash and
fibers present the hazards of cancer such ss lung cancer and mesothelioma to the
rived by consumers from some gu-bum -
embers) containing respirable free-form asbestos generally packaged la an em-
public, artificial fireplace ash and ember containing respirable free-form asbestos
ing fireplace systems may be adversely affected.
beridng Idt for use In fireplaces, and a n banned hazardous products.
(2) Cost. No effect on the overall price level of gaa logs Is anticipated as a result
designed for use la such a manner that 1305.5 finding.
of the ban. Tha avenge price of ember-
the asbeatoe fiber can become airborne under reasonably foreseeable condition
.
(a) The degree and nature of the risk
hdng kits may rise somewhat; the Com mission estimates the total price effect
of uw are banned hazardous products
at tn jv n . The Commission finds th at the risk of Injury which this regulation la
of
the
ban
on
consumers
at
under
under sections 8 aad 0 of the Consumer Product Safetp Act (CPSA) (13 UJ8.C.
designed to eliminate or reduce la from cancer, including lung cancer aad meso
$25,000. (3) Aooilebtlitp. The Coounlssfoa be
203T and 2053). This ban appllea to arti ficial emberlzlng materials available In
thelioma. Measurements a rt not avail able of tha amount of asbestos in the air
lieves th at all producers of artificial em berlzlng materiel will have eliminated
separate kits or with artificial fireplaee logs far use In fireplaces and sprinkled
from asbestos-containing emberlzlng materials In home However, It appeals
asbestos from their products by the time the baa becomes effective. No significant
or coated bp consumers on the artificial logs to simulate live embers and ash
that tha amount of airterno ubestoe In such homes would Increase when air cur
Impact on the availability of asbestos substitutes to producer nor on the avail
and give a glowing appearance when subjected to high temperatures. Bags
rents in the home are created by down drafts frem a fireplace chimney or ether
ability of gas logs or emberlzlng kits to retail dealers and consumers Is expected
of material containing asbestos th at are sold separately to be sprinkled on and
activities th at stir air la any room, a*"-
w nbrtting materials may
up to
a a result of the ban. (d> Any means of achieving the objec
under artificial legs to simulate burning and flowing ashes also come within tha
50 percent asbestos, which If not per manently bound Into artificial fireplace
tive of the ban while minimising adverse effects on competition or disruption or
cope of this ban.
logs would be la respirable form, the risk dislocation of manufacturing end other
1 1305.3 Purpose,
modeled with emberlzlng materials 1 commercial practices consistent with the
J * e purpose of this rule Is to ban arti
considerable, especially since It continues to exist 24 hours a day.
public health and safety. The Commis sion believes th at there will be minimal
ficial embeziting materials containing respirable free-fonn asbestos. These
(b) Products subject to the bon. A rti disruption to the market for artificial emberlzlng materials as a consequence
products present an unreasonable risk of
ficial emberlzlng materials are'decorative simulated ashes or embers, used In cer
of the ban and th at no further reduction
Injury due to Inhalation of fibers which tain gas-burning fireplace systems, which In adverse effects Is feasible.
Increase the risk at developing cancers glow to give the appearance of real burn Conclusion. The Commission finds th at
such as lung cancer and mesothelioma. ing embers. The' material Is sprinkled on th u rub), including Its effective date, Is
H D O at I f o u n t , VOL 42, NO. 141--THUSSOAT, D fC U U tl 15, 1977
KULES AND lE G U U T IO N S
reasonably heeeaary to eliminate or re
duce the unreasonable risk of Injury from eaaoen such is lung cancer and mesothelioma th at are associated with the banned products described herein, that no feasible consumer product safety standard under the Consumer Product Safety Act can adequately protect the publle frem this risk, tnd that promulration of this rule is in the public la-
EJeettoe Dotes: P art 12M becomm'ef fective January IS, 187S.
P irt 1305 becomes effective December 16,18*77.
Dated: December 13.1877.
Soldo* d. B uns, iu iita n i Serretary, Consumer
Product Safety Commission.
(FB DOC.77-U746 file * lS -lS -H :11 :M u a |
63365
I
ffiPRAt IfOlSTIS, vou *. NO. JS l--rHUSSOAT, MCEMlil |J, 19T7