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MANUFACTURING CHEMISTS ASSC
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::--V 1825 CONNECTICUT AVENUE, N.W. WASHINGTON, D. C. 20009 <202) 483-6126
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February 5, 1974
71974
To:
AIR QUALITY COMMITTEE LABELS AND PRECUATIONARY INFORMATION COMMITTEE OCCUPATIONAL HEALTH COMMITTEE SAFETY AND FIRE PROTECTION COMMITTEE SOLID WASTES MANAGEMENT COMMITTEE TECHNICAL TASK GROUP ON VINYL CHLORIDE RESEARCH WATER RESOURCES COMMITTEE
MEDICAL DEPT.
Subject:
NIOSH Investigations and Recommendations with Regard to Vinyl Chloride (VC) and Polyvinyl Chloride (PVC)
Gentlemen:
The attached correspondence from NIOSH Director Dr. Marcus Key reports their activities consequent to the report by the B. F. Goodrich Chemical Company of four cases of angiosarcoma of the liver among the employees of their Louisville, Kentucky vinyl chloride operations. At Dr. Key's request, we are helping to provide wide distribution of NIOSH's recommendations among those industries handling vinyl chloride.
As you may know, a group of PV/PVC companies has been supporting MCA-administered studies involving chronic inhalation exposures of laboratory animals to vinyl chloride monomer vapors, and a mortality study of workers in the industry. Both programs are as yet incomplete, and MCA will continue to cooperate with NIOSH as it seeks to resolve the questions raised by these events.
The Occupational Safety and Health Administration will hold hearings, starting February 15, 1974, to determine whether an emergency standard should be promulgated for vinyl chloride.
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or whether it should proceed directly to develop a permanent standard pursuant to section 6(b) of the Act. MCA plans to submit a statement.
Sincerely,
Kenneth D. Johnson, Ph.D. Secretary, Technical Task Group
on Vinyl Chloride Research
KDJ :nxb
Distribution "C"
cc :
Medical Contacts Management Contacts of Companies Supporting the Vinyl
Chloride Research Program D. P. Duffield, M.D. Mr. D. M. Elliott Dr. Tiziano Garlanda
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Page 2 - Mr. George E. Best
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and the National Institute for Environmental Health Sciences (NIEHS), as to the results of the initial survey of the Louisville plant and also review the results of the investigation thus far. Subsequent to this meeting, NIOSH will develop a protocol for further field studies as well as recommendations for medical diagnosis and follow up.
At this time the etlologic role of vinyl chloride in the induction of the observed liver tumors is not certain. The occupational exposure of the deceased workers to over 50 other chemicals at the Louisville facility precludes a clear definitive role for this substance as a carcinogenic agent until the degree of exposure to other chemical substances and work histories of deceased employees can be evaluated. However, the implication of vinyl chloride as the possible etlologic agent is not readily dismissable and, unless an association with another of the chemical substances is revealed, vinyl chloride must remain as the principal etlologic agent of suspicion.
Until well-documented recommendations to OSHA can be developed, we are recommending that the preliminary work practices and monitoring and control procedures for the polymerization of vinyl chlorides (Enclosure 1) be instituted as Interim measures. These preliminary procedures are based, in part, on the Information on hand concerning the operation of the Louisville facility and on the results of the walk-through survey conducted by members of the Institute's staff. These recommendations in more specific detail have been transmitted to the B. F. Goodrich Chemical Company for implementation at their Louisville facility.
Mr. Vernon E. Rose, Acting Assistant Institute Director for Research and Standards Development will provide NIOSH coordination in develop ment of controls and/or standards to be recommended to OSHA. Mr. Rose or members of his staff may be reached by telephone at (301) 443-3680. They will insure that all requests for technical information or assistance concerning this situation are directed to appropriate NIOSH staff or members of the other Federal agencies involved with the ongoing study.
The possible significance of vinyl chloride as a carcinogenic substance requires close cooperation between the vinyl chloride industry and State and Federal agencies. Consequently, it is my hope that through your organization the above information and
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Page 3 - Mr. George E. Best
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enclosed recommendations can receive the widest distribution to other companies using these processes.
Enclosure
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Enclosure 1
NIOSH Recommended Precautionary Monitoring and Control Procedures for Polymerization Processes Involving Vinyl Chloride
I. General Housekeeping Procedures
A. The spillage of Vinyl Chloride and Eolyluy!1 Clilot-i^e in and around the production facilities should be controlled as follows:
1. Housekeeping procedures should be implemented to assure immediate removal of VC and PVC material around polymerization operations including drying., packaging and loading operations.
2. Recovered PVC material which is to be packaged should be stored in closed containers.
3. Waste PVC material should be stored in closed containers and consideration should be given to the adequacy of its disposal and/or destruction. Care should be taken in the storage of closed containers to insure that unsafe conditions do not result from an internal build-up of pressure in the container.
a B. Inventories of beginning and recovered quantities of VC and quantities of PVC produced, packaged and recovered should be made to determine losses and probable areas affected.
C. PVC material should be removed from overhead structures and conduits where it tends to collect.
, D. Consumption of food should be permitted only in separate pL facilities provided for this purpose, and no food products should be
permitted elsewhere in the polymerization facility.
II. Protective Clothing
A. A daily change of protective clothing including full coveralls, or the equilvalent, should be provided each employee in areas where possible exposure to VC-^V could occur. Clothing contaminated by accidental spills should be changed as soon as feasible.
B. Protective gloves and footwear, or footcovers, shouljLbe worn as
appropriate in those f&E operations where exposure to
material is
possible.
C. Protective head covers should be worn during P^CT'operations as appropriate (e.g. hard hats in those areas where physical protection of the head is necessary and hair coverings, or the equilvalent, in
631034
Gg; 0 H ! 2. Breathing,, zone samples should be obtained to complement
^?.30^nvlronmental monitoring program for VC, and similar samples should be obtained for PVC.
V. Respiratory Protection Because VC is a gas under ambient conditions and PVC is a solid under these conditions, it is recommended that respiratory protection for employees take these circumstances into consideration. A. Where employees are engaged in cleaning and maintenance operations inside polymerization reactors they should be equipped with an afnmcphara-cnppHaH respirator in order to protect against both VC vapor and PVC particulates?^ B. During housekeeping procedures and packaging operations where the possibility of PVC dust inhalation is a factor, it is recommended that an air-purifying respirator equipped with a mechanical filter designed to remove particulate material be worn. Respiratory protective devices which meet this requirement, as well as protect against VC vapors in concentrations less than 0.1% have been approved by the NIOSH Testing and Certification Laboratory and bear the numbers: TC-23C-4Q, TC-23C-47, TC-23C-48. C. Where employees are engaged in transfer operations of yc from railway tankcars to storage facilities or at any similar transfer point which requires manual operations, they should wear a selfcontained breathing apparatus CSCBA) during such operations to guard against unexpected release of VC during such operations. D. Other operations involving possible exposure to VC or pyc should be evaluated as the individual situation exists and respiratory protection provided as appropriate.
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(&>
MANUFACTURING CHEMISTS ASSOCIATION
1825 CONNECTICUT AVENUE, N.W. WASHINGTON, D. C. 20009 (202)483-6126
September 27, 1977
1977
TO: Vinyl Chloride Technical Panel
SUBJECT: X- The Chemistry and Biogenesis of the S-Containing Metabolites of Vinyl Chloride in Rats
II. Comparative Mammalian Metabolism of Vinyl and Vinylidene Chlorides in Relation to Oncogenic Potential
Gentlemen:
Mr. R. N. Wheeler has thoughtfully made available the subject technical papers which he received from Mr. J. Stafford of ICI. Your copies of these papers are enclosed.
The contribution by Dr. David E. Hathway on the elucidation of the role of vinyl chloride metabolites in the various reaction sequences which comprise the metabolic pathway (reference Subject II) was well received at the Symposium on Comparative Metabolism and Toxicity of Vinyl Chloride Related Compounds (NIEHS, Bethesda, Maryland).
Sincerely
JTS:ec Enclosures
J. T. Seawell Project Manager Vinyl Chloride Research
631035.1
Washington r>r ^nnrv.-------------------"202-872-1080
H Organization Resources Counselors, Inc
February 14, 1980
Memorandum
To: From:
ORC Occupational Safety and Health Group ORC Occupational Safety and Health Physicians Group ORC Occupational Safety and Health Lawyers Group
Richard F. Boggs
The following is reproduced with the author's permission and provides an interesting assessment of the impact that OSHA's vinyl chloride actions have had on the business community.
Enclosure RFB:shb
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SAFE AND HEALTHFUL WORKING CONDITIONS: THE CASE OF VINYL CHLORIDE
Charles R. Perry,
j e c^,
University of Pennsylvania
5 C hiOrF* e^I r*f ftMstc. F* ^ tr 'g C /?CJta rtk Clkii Tht W/U&brm. School ,
The Occupational Safety and Health Act was passed less than ten years
ago with an apparent ease and unanimity uncharacteristic of major labor
legislation in this country. The Occupational Safety and Health Administra
tion created by the Act, however, has not enjoyed the blessings of its noble
birthright. Indeed, OSHA, almost from its inception, has been the target of public criticism and private conspiracy typically reserved for the mad
or illegit-:mate progeny of royalty.
The fall from grace of the highborn is fascinating to observe and
intriguing to explain. The "downfall" of OSEA began with the requirement of
"inflation impact statements" for major regulatory actions and has been carried on in the "regulatory reform" and "regulatory' analysis" movements.
These movements are the product of a perception that OSHA, like an unwise
monarch, is imposing substantial and oppressive new taxes to support personal
adventures which provide or promise little tangible benefit to an already overtaxed populace which, per force, must indulge the king's whims.
There can be no doubt that OSHA regulations impose a tax on the producers
and consumers of American-made goods and services. There is, however, consid
erable latitude for debate over the magnitude of that tax both in absolute
terms and in relation to the benefits purchased by the tax. This debate over
the absolute and relative impact of OSHA regulation on productivity and cost
cay never be subject to definitive resolution, but it should be possible to
gain some perspective on the issue by analysis of the results of specific
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OSKA regulatory initiatives. The OSHA standard governing worker exposure to vinyl chloride provides an excellent vehicle for such an analysis be cause it was one of the first major new health standards promulgated by OSHA and one whose impact was concentrated in a single easily studied industry.
The Feasibility of Compliance The battle over the permanent standard for permissible levels of
worker exposure to vinyl chloride was beset with the predictions of dire economic consequences which have become commonplace in the standard setting process. Such consequences clearly have not come to pass, a fact which promoted some to conclude that the industry "cried woif."^ That conclusion,
strictly speaking, is not justified. But, justified or unjustified, it has had the effect of tempering the industry response to other proposed regulations.
The permanent standard initially proposed by OSKA called for a "no detectable" exposure level. The industry responded that such a standard "is not technologically feasible and, If adopted, would shut down the
2 industry." Interestingly, this claim was supported by the conclusion of a reasibility study commissioned by OSKA. 3 The consequences of a possible industry shutdown were detailed ir a separate study which indicated that $65 to $90 billion in GNP and $1.7 to 2.2 million jobs were dependent on the
u procuction of ?VC resins.
The industry argued for a standard which would set a time weighted exposure limit of 10 ppm for polyvinyl chloride resin plants and 5 ppm for vinyl chloride monomer plantsJ based on feasibility considerations. Organized labor endorsed the "no detectable level" standard and disputed the in feasibility of such a standard. The results of its own feasibility study
631035.4
forced OSHA to withdraw from the no detectable level standard and to adopt in its place a 1 ppm standard. The industry challenged both the necessity for and feasibility of this stringent limit in the courts with a notable lack of success, particularly since the court of appeals specifically ruled that
the secretary is not restricted to the status quo. He may raise standards which require improvements in existing technologies or which require the development of new technology .... The actual economic consequences of this technology-forcing standard for the viability of PVC plants and the availability of jobs in those plants were remarkably modest. A few older PVC plants were shutdown, in whole or substantial part, because of the projected cost of bringing those facilities into compliance with the requirements of the standard. These shutdowns resulted in the loss of about 325 million pounds of production capacity and 375 jobs--approximately 5 percent of the industry total. Much of the credit for the modesty of these adverse effects now is attributed by Che industry to the reasonableness of the standard itself as is evident in the following confidential statement of one company representative. The OSHA-VCM program was, in the end, a real success story for both OSHA and the VCM-PVC industry. By fighting the "absolute zero" con cept originally proposed, industry achieved a more practical 1 ppm standard that allowed it to continue to operate and grow. And, ap parently the standard has protected the workers . . . so at least in this case we have a government regulation that has been practical and beneficial to all concerned.
The Cost of Compliance The vinyl chloride standard may not have been catastrophic for the
industry, but it was expensive. The first public estimate of the cost of compliance with the 1 ppm standard indicated that the industry would have to
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invest $200 million (excluding development costs) in immediate process improvements to satisfy the requirements of the standard.^ The VCM-PVC
industry actually invested about $130 million in such process improvements
to bring existing production facilities into compliance with the standard.
More than 90 percent of this total was accounted for by PVC plants which
employ only about 75 percent of the workers in the industry.
The apparent $70 million cost "saving" recorded by the industry
is an attractive focus of attention but in no way offsets the $130 million actual
invested in compliance with the standard. It is difficult to identify the
sources of the saving without knowledge of the basis of the original
$200 million cost estimate, but three possibilities deserve note. First,
part of the savings may be attributable to the decision to close rather
than modify some older PVC plants. Assuming that these plants had the
most acute and expensive compliance problems, they may well have accounted
for as much as 10 percent of estimated compliance cost, although they
represented only 5 percent of PVC capacity, and for as much as $20 million
of the $70 million saving. Second, part of the savings may have stemmed from
miscalculation of the significance of the
relative cost advantage of VCM
facilities in complying with the standard. For example, there was an almost
S^uOO per worker difference between average compliance cost for PVC and
for VCM-PVC plants which, if not accounted for in industry cost projections,
would have added another S25 million to chose estimates. Finally, the
industry was able to find more efficient means to achieve compliance than
were foreseen at the time the standard was adopted. The largest producer
in the industry reported it had been able to reduce its projected $42 million
g compliance costs by 10 to 15 percent through technological developments.
631035.6
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If other producers were able to realize similar economies, the total saving for the industry would have been another $25 million.
Compliance with the vinyl chloride standard entailed incremental operating as well as capital costs. Data on incremental operating costs are limited, but the data which are available suggest that compliance probably cost the industry close to $10 million per year or $100 million in present value terms, assuming a 10 percent interest rate and infinite time horizon. Approximately 70 percent of this incremental operating cost was attributable to added activity and staff in two areas--exposure monitoring and equipment maintenance.
The incremental operating costs associated with compliance are note worthy for three reasons. First, they were not included in public estimates of compliance costs. Second, they were sizeable both in absolute amount and in relation to the capital costs of compliance. Finally, they appear to have been primarily a product c: exposure control, per se, rather than the more peripheral requirements of the standard such as record-keeping or medical surveillance.
The incremental capital and operating costs associated with compliance constitute the most visible dimension of the economic impact of regulation. A much more subtle and surprising economic impact of the vinyl chloride standard was a significant reduction in effective production capacity and outDt: per man-hour in the industry.
Compliance with the exposure limits set by the standard required substantial changes in work procedures in the industry. These changes resulted in less efficient utilization of existing equipment and manpower which lowered effective capacity by approximately 15 percent. The actual
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loss of product and productivity immediately after the standard became effective was slightly less than 15 percent because there was some tem porary excess capacity in the industry. Over the longer run, however, the loss of product and productivity in then existing facilities has approached the full 15 percent for two reasons. First, industry sales generally have been capacity limited. Second, little progress has been made in eliminating the need for modified work procedures which limit capacity.
The Price of Compliance There is every reason to expect that the compliance cost of regulation
will be borne by the consuming public. This clearly appears to have been the case for the regulation of worker exposure to vinyl chloride. In the year following implementation of standard, the price of PVC resins increased fcyC2 to SOS per pound. OSHA regulation appears to have accounted for approximately 20 percent of this price increase.
The incremental capital and operating costs for compliance with the vinyl chloride standard represent the equivalent of a $23 million increase in annual production cost. That $23 million, in turn, is the equivalent of a $3000 per year or $1.50 per hour wage premium for the approximately 7000 workers employed in the VCM-PVC industry. Assuming average hourly compensation of $10 for those workers, the OSHA vinyl chloride standard mandated a 15 percent increase in effective wage rate in the industry. That 15 percent increase coupled with a 15 percent drop in productivity suggests that com pliance resulted in a 35 percent increase in unit labor costs. Labor costs, however, is only a small percentage of total cost in the VCM-PVC industry
631035.8
and probably accounts for no more than 10 percent of total operating cost.
Thus, OSHA regulation added no more than 3.5 percent to cost of PVC resins--
about $.005 per pound. Assuming production from then existing facilities
of 4.5 to 4.8 million pounds the cost to consumers would be about $23 million per year.
It is highly unlikely that any industry will passively accept increases
in wage rates and labor costs of the magnitude imposed by OSHA on the VCM-PVC
industry, except in the short run. Over time, one must expect changes in
basic patterns of resource use which permit a more efficient ana less
costly accommcnation to the requirements of regulation. In this context,
three possibilities deserve attention: 1) technological change; 2) economies
of high safety; ana 3) shock effects.
The development and application of labor-saving technology is the
classic mode of industry' adaptation to rising relative labor cost. The
process improvements undertaken in immediate response to regulation clearly
were no; labor-saving in character. Subsequent process improvements in
stituted as old production capacity is replaced and new capacity added,
however, generally have been labor saving in character. Most notable
among these process improvements has been the construction of computer-co ies which has enabled at least one firm co increase its
production capacity by 10 percent with no change in total employment. The cost savings resulting from this favorable productivity trend, however,
| 1
have been far more modest than 10 percent due to the greater capital investment and the higher ratio of high wage workers required by computer-controlled operations.
631035.9
a long-run increase in the productivity of labor is recognized in economic theory. This "economy of high wages" generally has been regarded as a phenomenon to be found in developing rather than mature economies. It is possible, however, that in an affluent society and economy such as ours there are substantial "economies of high safety and low risk." The early experience of the industry provided little evidence to support the existence of such "economies of low risk." Subsequent experience provides little additional evidence that the "health premium" paid by the industry has yet significantly enhanced its ability to recruit or retain qualified labor or reduced the relative wage rates it must pay to do so. The possi bility of economies of low risk which are, in a broader sense, a basic economic justification for the 05KA regularity effort remains an open question deserving of further research.
The possibility that a dramatic rise in wage races anc labor costs will elicit offsetting savings through more intensive efforts by management to control and reduce the non-labor costs cf production is also recognized in economic theory. The experience of the VCM-PVC industry provides some limited evidence of such a "shock effect." One effect of the standard was to encourage development of new technology to permit more complete reaction cf VCM or recovery of unreactec VO! in the process of manufacturing ?VC resins. The incentive for this effort was twofold: 1) to reduce the level cf VCM emissions in plant; and 2) to reduce the potential level of VCM emissions from PVC resins at Che fabrication stage in order to permit the purchasers of those resins to escape regulation. The industry response cc these cost/sales incentives ranged from changes in reaction formula to development of new stripping technology anc resulted in an increase
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of Che overall reaction/recovery rate for VCM in the PVC industry by 3 to 5 percent. This improvement in raw material usage has produced cost savings for the industry which have grown in value over time as VCM prices have risen. Those cost savings, however, are not yet judged by the industry to be of sufficient magnitude to provide a competitive rate of return on the investment required to achieve the improvement in reaction/recovery rate.
The Divine Right of the King The court test of the vinyl chloride standard confirmed that OSKA
enjoyed almost unlimited taxing power in the exercise of its authority and responsibility to promulgate standards. The vinyl chloride standard itself represented a classic case in what can be characterized as a heavy-handec use of that power. The result was a substantial, multi faceted tax on the production of VCM and particularly PVC involving a one-time license tax (the incremental capital cost for old and new facilities), an annual operating tax (the incremental operating costs ro an old anc new facilities), and a direct tax or tithe on output (the loss of production capacity). The net effect of these taxes has been a down ward shift in the industry's production function for positive outputs (products) hopefully accompanied by a comparable downward shift in its pro duction function for negative outputs (problems).
Is the king insane? There are many who would say that he is, but the vinyl chloride experience suggests the contrary. The tax imposed on the industry was substantial, if not staggering, in terms of its impact on effective unit labor costs- however, it was not lethal and ever, proved to ce less than was predicted, at least with respect to the cost visible
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regulatory tax--initial capital investment. Whether by accident or design, the taxes imposed on the industry had little obvious effect on either the price or availability of PVC resins. This "fortunate" result is not inevitable, but is not improbable in the case of a single regulation. The cumulative effects of multiple kingly mandates or mandates by multiple kings (OSHA and EFA) may be quite different but equally difficult to detect until or unless there is another "Chrysler crisis" or worse.
If not insane, is the king profligate? The answer to this question depends strictly on viewpoint. The vinyl chloride standard was very conservative with respect to the level of risk assigned to workers, but equally liberal with respect to the level of cost assigned to the industry. The dramatic difference in the initial capital investment required to achieve compliance between the VCM and PVC segments of the industry at least suggests that OSKA may have been profligate in not adopting a two-tier standard. Similarly, the paucity of evidence "economies of Low risk" suggests that the industry in general may have been overtaxed in relation to the desires of its own current and prospective workers in whose name the tax was levied.
If the king is not insane or profligate, is he a fool? The answer to t.nis question, again, is a matter of perspective. Politically/bureau cratically, it is difficult to fault OSHA's desire to probe the frontiers of feasibility as it did in the vinyl chloride standard. Economically, however, the taxes necessary to indulge that desire are open to serious question. At the present time, it is impossible to measure and difficult to predict the reduction in negative output resulting from the regulation of worker exposure to vinyl chloride. However, neither the historical nor
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the recent record of the industry offer solid evidence that the benefits of regulation will prove to be substantial. After 30 years of operation with worker exposures many times that mandated by the standard, fewer than 25 deaths from angiosarcoma of the liver were attributed to occu pational exposure to vinyl chloride. Even more disturbing is the report from one industry source that the last confirmed case of angiosarcciaa or the liver in the industry was discovered in early 1976, despite the fact that, during the 1974 crisis,
. . . We observed workers contracting angiosarcoma only after 10 to 20 years of high exposure. So there were predictions that because of a latency period, no matter what [OSHA or the industry] did, cases of angiosarcoma might continue to surface at the rate of two or three a year for ten years or more. Should the king be deposed for his possible economic follv? The answer to this question ultimately will depend on the willingness to pay a tax to insure ourselves against the risk of collective guilt for occupational injury and illness. To dace that willingness has been strained but not broken, at least in part due to the intervention of the courts and the White House to restrain the king in the exercise of his power to tax. Perhaps this form of constitutional monarchy will suffice to serve the public interest in these inflationary tines. Only time will tellt and there may be little of that left given the mounting chant of "down with the king" and our tradition of changing rules if not rulers in the labor field every twelve years.
631035.13
FOOTNOTES
1. Steven Rattner, "Did Industry Cry Wolf? Polyvinyl Chloride Health Rules Can Be Met," New York Times, December 28, 1975, p. C-5.
2. "Post-Hearing Memorandum of the Society of the Plastics Industry, Inc. --Proposed Findings of Fact and Conclusions Supported by the Record," (Memorandum presented to the U.S. Department of Labor, Occupational Safety and Health Administration, in the matter of proposed permanent standard for occupational exposure to vinyl chloride, Washington, D.C., August 22, 1974), p. 5.
3. "Showdown on Vinyl Plant Rule Presages Shutdowns," Chemical Week, September 25, 1974, p. 15.
4. Arthur D. Little, Inc*. United States Polyvinyl Chloride Industry Impact Analysis (Cambridge, Mass: Arthur D. Little, Inc., 1974), p. 5.
5. "Showdown on Vinyl Plant Rule Presages Shutdowns," Chemical Week, September 25, 1974, p. 16.
6. Eriei for SPI at 39, Society of the Plastics Industry, Inc, v. Occupational Safety and Health Administration, 509 F. 2d 1309 (2nd Cir. 1975).
7. "PVC Plants are Ready to Pass First Test," Chemical Week, May 7, 1975, p. 49 S. "Goodrich Cuts Cost of Meeting VCM Limits," Chemical Week, December 10. 1573
p. 59.
631035.14
M&A-E
Messrs:
P V Prus E J Burkett W L Cox F A Cox J M Gilmore W Ito
l
Attached are the details of the EDF Suit. We have agreed (1) Support SPI in their intervention (2) Support SPI in a request for stay.
Goodyear needs to determine whether they as an individual want to file for either of the above. No further detials are known on the "ozone technology."
H Francis attach
Director Domestic Chemical Production
Q^
631035.15
Beveridge, Fairbanks & Diamond
MEMORANDUM
November 30, 1976
TO:
Mr. Jerome Heckman
FROM:
Beveridge, Fairbanks & Diamond
RE:
EDF Petition to Review EPA Vinyl Chloride Standard
Factual Background
Pursuant to our meeting on November 23, 1976, we have reviewed the background of the Environmental Defense Fund (EDF) Petition in greater detail. In addition, we have generally examined the legal options available to SPI.
On November 22, 1976, Gary Baise advised you that EDF believes EPA did not use "best available technology" in setting the Vinyl Chloride Standard. Based on further discussion, we have determined that the technology referred to by EDF involves the oxidation of vinyl chloride by ozone in the presence of ultra-violet light. This technology, according to EPA, has been successful in the laboratory but has not been used on a commercial basis.
EPA is seeking a demonstration project for the ozone technology and will be.ready to supply equipment for such a project to one or more companies in a couple of months.
This technology was brought to the Agency's attention by Houston Research Corporation, Houston, Texas? Westgate Research Corporation, California and General Electric. G.E. is apparently using this technology for solving its PCB problem. At least one firm has tried to sell this technology to a producer of polyvinyl chloride but was turned down.
Notwithstanding the developmentiof this new technology, the EPA staff at Research Triangle Park, North Carolina, believes that best practicable, demonstrable technology was used and they stand behind their decision. One note of caution: Bernard J. Steigerwald, Deputy Assistant Administrator for Air Quality Planning and Standards, who was in overall charge of the Vinyl Chloride Standard, has resigned his post and he has been replaced by Walter Barber. The impact of this change cannot be underestimated.
631035.16
EPF Petition to Review EPA Vinyl Chloride Standard, cont'd. November 30, 1976 Page 2
Mr. Barber has already determined that the Vinyl Chloride Standard and the events leading up to its promulgation should be re-examined and has advised EDF accordingly. Furthermore, we have been advised that Mr. Barber would like to see this case settled. He believes the case will cause a manpower drain and if an acceptable solution to the law suit can be devised, he would welcome one.
One option which may be considered by Mr. Barber is to apply the present Standard to existing plants and the new ozone technology, if proven practicable, to new sources. This might be acceptable to EDF because it.bfelieves that the two year period in the Clean Air Act allowed for installation of controls is intended to give adequate time in which to develop new technology to virtually prohibit emissions.
It is also known that Mr. Barber is concerned over the fact that the Maltoni data submitted by Ralph Harding to Messrs. Talley and Strelow was not formally brought to the attention of the Administrator by these EPA officials or their staffs before he signed the Standard.
Regarding the Maltoni data, the EPA staff does not seem to be overly concerned. They believe it would be an error to change the Standard because these new data have not been replicated, are not statistically significant; and as Dr. Maltoni admitted, are inconclusive. Therefore, the Standard can be defended from a medical, standpoint. One word of caution: this view is not official and has not been reviewed by the policy makers in the Agency.
It is clear that the EDF Petition has created uncertainty with respect to the Vinyl Chloride Standard, and creates problems for the enforcement of the Standard. Because of the statutory 90 day waiver period and the requirement in EPA's regulations for a compliance schedule, contractual commitments and installation of control technology, the EPA General Counsel is reviewing the question of waivers.
#
631035.17
EPF Petition to Review EPA Vinyl Chloride Standard, cont'd. November 30, 1976 Page 3
Discussion
There is uncertainty as to what position EPA will adopt with respect to: (1) defending the Standard in the face of the EDF challenge; (2) enforcement of the current Standard; (3) the waiver process with its 90 day deadline. In light of these considerations, we have reviewed the legal issues and conclude that there are only two which require a decision by SPI. They are whether to move to intervene and whether to seek an order from the Court staying the effective date of the Administrator's final action.
1. Intervention
We believe the advantages of intervention are: (a) EPA may not adequately defend the Standard; (b) even if it does so, SPI may wish to argue different issues; (c) SPI will be in a better position to protect its interests in settlement discussions; (d) SPI will have the opportunity to ensure that the record on appeal is complete and (e) it will be in a better position to pro tect its interest in any further appeals. The major objection to interventions is that by defending the Standard, SPI might appear to compromise EPA by giving the impression that the Standard is an "industry standard".
On balance, we believe the reasons for inter vention clearly outweigh the reason against and that papers should be prepared as promptly as possible pursuant to Rule 24(a), F.R.C.P. Although EDF has not decided whether to oppose such a motion, we believe that the motion will be granted even if opposed.
2. Stay
Under* the Act,' the filing of a petition for review does not automatically stay the proceedings and the statutory time limits for waivers (90 days) and final compliance with the Standard (two years after the effective date) continue to apply. This creates serious practical problems for the industry.
631035.18
EPF, Petition to Review EPA Vinyl Chloride Standard, cont'd. November 30, 1976 Page 4
We recommend the following: (1) SPI file as promptly as possible a motion to stay the effective date of the Administrator's final action. The Clean Air Act, unlike other statutes, e.g. the Occupational Safety and Health Act, does not contain an explicit provision authorizing a court to order such a stay. However, we believe that in a case of this importance, that the Court will consider such a request. (2) Each company which intends to seek a waiver should continue to follow the statutory and regulatory requirements currently in effect, but as previously advised, should not enter into any binding contractual obligations. (3) SPI should continue its efforts to negotiate with EPA a practical solution to the problems created by EDF's petition and the statutory deadlines.
631035.19
; v-
JOSfcPIt E KELLER JEHOME H HECKMAN* C11AK1.ES M MEEKA> WILLIAM I! BOHGIIESAVI JR ROBERT R TIERNAN WAYNE V BLACK DAVID L HILL MARTIN* V. BERCOVIt 1 PETER M NEMKOV JOSEPH E HADLEY, JR CAROLE C HARRIS PETER THOMAS SMITH MICHAEL F MORHONE LARRY $ SOLOMON
I.AW OFFICES Keller and IIeckman
1130 17^ STREET, N, W, SUITE IOOO
WASHINGTON, D C. 20036
December 3, 1976
TELEPHONE SOS 437-1100 CABLE ADDRESS "KELMaX* WRITERS DIRECT DIAL NUMBER
202/457-1.' ' ' P
/*
f.
TO
VCM/pvC Producers Group VCM/PVC EPA Technical Committee Attendees at October 26, 1976 Meeting
/
Gentlemen:
Following our standard procedure we are forwarding herewith a copy of a self-explanatory letter and attachments received today from Associate -Counsel, Beveridge, Fairbanks & Diamond. That letter is concerned with disclaimer statements (vis a vis the potential effects of the EDF Petition to Review) that could be used by member companies intending to file waiver requests 'with the Environmental Protection Agency.
Should you have questions about any aspect covered in this communication, please do not hesitate to contact us.
Cordially yours
Enclosures
631035.20
< U U ill
alrcpt j, ecvcoiDOE. in
AlCHARD M FAIRBANKS fit HENRr L DIAMOND
GAf7r N BAfSC
KEVIN m rOLEY
a JAmcs BARNES harolD himmelman JONATHAN Z CANNON
N D R c W e MiSwrtlN HfliSTOPHER h auCKLCT.
MAOl.ES A, Ra-OiZIA UEDEEN M CIS3CNS *
JS
NOT a MfwGEfl Or D. C- 6*
LAW OFFICES
Beveridge. Fairbanks <5. Diamond
One Farragut Souare South
Washington, D. C. 20006
telephone (02) 630 7600
December 3, 1976
CARL EAROLE* or COUNSEL
CABLE ADDRESS IN OL AW '
Jerome H. Heckman, Esquire Keller and Heckman Suite 1000 1150 17th Street, N.W. Washington, DC 20036
Dear Jerry:
Since the VCM/PVC Producers' Group meeting of November 30, 1976, we have been requested by several members of SPI to suggest appropriate language to be added to their waiver requests filed under EPA's Section 112 regulations currently applicable to vinyl chloride, for the purpose of protecting their rights in light of the filing of the EDF challenge to the final Standard.
Enclosed are two suggested drafts. Draft "A" would cover those situations where a company must shortly execute major contracts in order to meet compliance requirements. Draft "B" is designed to cover situations where future contractual problems are anticipated.
In recent conversation with EPA officials, I have learned that the Agency's tentative inclination, in light of the EDF challenge, is to consider treating interim compliance steps required under Section 112 and the regulations (Part 61.10) and final compliance (two years after the effective date) differently. The Agency may be willing, until there is some clarification of the legal challenge, to permit a company to defer signing sub stantial contractual agreements implementing interim compliance steps if the contract lead time is not so great that there will be any difficulty complying with the Standard as presently published by October 21, 1978. On the other hand, EPA would probably not be inclined to permit deferral of execution of any contract if a delay might result in the company being unable to meet the present Standard within the two-year statutory time limit.
631035.21
<" .
Hi vt ifiiK.t 1 *ii*hanks*. 6. Diamond
Jerome H. Heckman, Esquire December 3, 1976
------ 2
This policy may be of some assistance to certain companies but we recognize it probably does not help others. We are, therefore, continuing to discuss with EPA other ways to alleviate the serious problems facing the industry because of the recently-filed legal challenge.
Because of the relative uncertainty still surrounding these issues, it would be advisable for member companies applying for waivers to proceed as they had originally planned but to review carefully their contractual commitments along the lines suggested in the enclosed draft disclaimer statements. We hope that each company will tailor its disclaimers to its own specific circumstances so that these drafts do not assume the appearance of a "form" letter. Each should also keep in mind the distinction EPA may draw during the current uncertainty.
Although we believe it would be prudent for companies to submit disclaimer statements, we cannot give any assurance at the present time that EPA will consider waivers containing such requests as meeting the requirements of the Agency's regulations. It should also be kept in mind that each regional office may reach its ov/n decisions on all waiver-related issues notwithstanding the view of EPA in Washington. You may wish to have regional actions reported to you so that any problems can be taken up with the appropriate regional officials or with EPA officials here.
Please let me know if you have any questions.
Sincerely yours
HH/ap
cc: John R. Lav/rence Robert Laundrie
Harold Himmelman
631035.22
t vi uinor. Fairbanks & Diamond
DRAFT "A"
(SUBSTANTIAL Ca\TTACTS NEEDED ^'MEDIATELY)
PROPOSED DISCLAIMER IN VINYL CHLORIDE WAIVER REQUESTS FILED UNDER SECTION 112
EPA regulations under Section 112 of the Clean Air Act require a compliance schedule to be submitted with this waiver request including the dates each step toward compliance will be reached, contracts for installation of equipment awarded, orders issued for purchase of equipment, construction or installation initiated and completed, interim emission control steps taken, and final compliance achieved (40 C.F.R. Section 61.10).
While we herein submit a compliance schedule in conformity with Section 61.10, we wish to notify EPA that because of the legal challenge to the validity of the final Vinyl Chloride Standard filed in the U.S. Court of Appeals for the District of Columbia by the Environmental Defense Fund (Environmental Defense Fund v. Train, No. 76-2045, November 19, 1976), and the uncertainty created as to whether the Standard as published will be the final standard, we wish to defer formally executing the following contracts until the legal situation is clarified, notwithstanding our continued full intent to comply with the current Standard under Section 112:
The reason for our decision is that these particular contractual agreements, if executed now to implement the current Standard, may have little relevance to a new Standard, thus subjecting us to potential substantial legal liability for cancelling the contracts. We are continuing efforts to comply with the Standard in all other respects.
631035.23
DRAFT "3" (SUBSTANTIAL (XS'^TRACrS NOT NECESS/'^RY NOW) PROPOSED DISCLAIMER IN VINYL CHLORIDE ,WAIVER REQUESTS FILED UNDER SECTION 112
In the event the status of the final Vinyl Chloride Standard is not clarified by the time it is necessary for us to enter* into final contractual arrangements in conformity to our compliance schedule, we will wish to defer formally executing the following contracts pending clarification of the legal challenge to the final Standard filed by the Environmental Defense Fund in the, U.S. Court of Appeals for the District of Columbia (Environmental Defense Fund v. Train, No. 76-2045, November 19, 1976):
The reason is that these particular contractual agreements, if executed at a time when there is still uncertainty whether the Standard as published will be the final Standard, may have little relevance to a new Standard, thus subjecting us to potential substantial legal liability for cancelling the con tracts.' In the meantime, we are fully complying with the current Standard under Section 112 and we plan to continue our efforts in this regard.
631035.24
631035.25
; i vt
1^' ;
CHEMSRBO Manufacturing Chemists Association 1325 Cormaotlout Avenue, NW Washington, D c 20009
Attention; Mr Dewey A Kunse
V He:, Mstmao Teama ^
.. . . ,|
,
" "
; '/ ;
":Dear Kuntea ' ' ^v;>-v :;-/vf
/-''.V, '...v
.:2Mb Is to advise ihht The - Goodyear
are members of GHEMTflEC in the event of vinyl chloride* You may release our name,
4l'.i %. ' ; >-'=, .
ehlpper vlll contact our plant listed: below
mined that emergency assistance 13 needed,'
r that said plant's response personnel areinthe
daslgnatedgeographic. location to render such eatergency
tances '
.......
'V^K'/:^:n||;;i^''^:^VMaffara Falls, Hew .Xjpite'.,,.. rarl"hXoridlM
>*?
:' :;S'f.
f|fts.*Ic;?'-.:^^r-'WN5i*aa*gwgsa',rPaarFlwarllsAv, eNnuewe..Y....o...r..k.V."..r."f'.1W...,.....
'
,:';C ; : *v' - .;v.'v-'wvr-':/' -' - S, '' '1 y.'. ;
>:-Fhone; (7!6) 283*^2f'
;_.y.:........................
v*
The Goodyear lire & Rubber Company
Plaquemlne, Louisiana -Vinyl
y.. P 0 Boat 578
Plaqueaine, Louisiana
'/ :thones (504) 687-^oM..^,,,
m:'>
a./; ^ ;
;i.
.Our .participation 'shall-'.?**- limited:-to'-'imadVis<qp^8i^s,'4des^^.-.x
..covering the following;,
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....
.
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V-''--'' ::>
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631035.26
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site
rr.- .
;,
^
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rmm.
'-'i"i,iV-
:7' ^
\7.-:' ; - ' '"i/ '
PIHE* Extremely flammable gaa transported as a liquid uad&r, pressure* It can be Ignited by beat, sparks or opou - ^
--flame* Fire may cause violent rupture of the
T, 1
- . - '
,
.
. ,, '
'V->^*^5 ', ,V4 ;/
E^OSUHEi".
EXPLODE IF INVOLVED IH FIRE. . Vapor from "the tnzn'>' I*
; Ing material Is harmful* It is mostly Hydrogen Chloride'* There Is little likelihood of Phosgene being present
it
r; '>% V
msmszmzsm
'- - T>'>* *
`?;>'rV
v ' .;
>;;,4
-
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. > '- ;sj. ',l- ....
. $</>:. -v, ? '.'V
:...y SPILLS If there is a leak but no fire, DO HOT ignitie^i thiea
I*EAfv v.jaothlhg--. Clear the area* keep unwind and use water
spray to disperse vapor and protect men attempting. to>'-.j 4 T^Vf' off leak*.; Keep low behind the spray`and avdid>?rv--:':h:;:^i;5-"'|
entering vapor area as it may Ignite and flash back to .`i: source. If leak'-cannot'be shut-off, it would-,be -
Consult shipper prior-to taking any further letiep9^^^*d%z,
-.
...- >
; ,:
; < I'yi.
STAf AWAY FROM ENDS
` K:,y ;:;:;^'*'vr,:vV:fire, evacuate area for one-half mile,; but on-the^aeene
- :':
:ludgraent -will he necessary* If large volume of water
\ \available,';use water-spray,from monitor noeetWMtoi.-v,^
......cool 'tarik* .-that may- have flame impinging from the
- C; >
'fresh air. 'Iff, unconscious, call a''physician*-
? If not breathing, apply artificial respiration, caygen* ' '
e In case of contact with the liquid, thaw frosted parts
H'i s
",
.
water* In ease of exposure to gas from fire,-6 administer oxygen, If breathing Is diffiwfLti`r^^".';1'J^5^V.,.,
tV'f-1. -'W- `
:'> *.- '
- '
PKSdAUriONi If Vinyl Chloride gets into sew^r, flush sewers wit^^v Jfire hoses and copious amount of waters
, ' -~fi -* ,i4 . .'- . - ' -;v; r \r-
, v,
*
^->
. ", 1: ' - - ` 'V- 'f--'";J,?^-1 - .-1 ^ - -1"
'-. i.v*-J-ii-ft-' -
631035.27
|f
v -::5
josj-rri e. kRlikd
n. heckm w
rr '.HI T.S M- jyiKno:
V.JT.JJ '! :>0! T-TIE'.vA.VI
1 v>: i -
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'r *, p h rynnc I
,'om . h " :y'
jh
IAW OFFICES
Kei.ler and Heckman
llfiO ITTM STHET.*, N, W st;ttt ioo">
VAsnryoTON, n n, 200:103
February 7, 1977
>i f
TF.LP.PnONT,
di .1^7-1100
CABT.E aTIOHESS "KEDUn*1 VTJITEES DJFliCT IjIAL M'MMR
202-457-1116
: ^n?rr* s, 1so 0V,0>* t'5, i'*"e"' (? i i:'t: a. `.o'tt:r
Co: VCH/PVC Producers Group VCM./PVC EPA Technical Committee Attendees at October 26, 1976 Meeting
P. e : P PI - VOM/ PVC--E PA
GenClemen :
Enclosed herewith is a copy of; a communication we ha-'c received from Harold Himmelman of Beveridge, Fairbanks Diamond, Associate Counsel for Environmental Protection Aeencv (EPA) matters. It explains the current status of ail known waiver applications on both a national and regional
As Harold reports, the Agency is now beginning to act on waiver applications. The current prognosis is for EPA to take final action on as many as half the pending aoolications within the next few weeks.
If, prior to our next progress report, you should have any question or comments regarding any aspect of the waiver process, please do not hesitate to let us know.
Esclosure
Cordially yours,
/
s? ,/ />* 'T
7, '-< -
A'
// '' /
w.
//
631035.29
henry l, DIAMOND
RICHARD
FAIRBANKS, UT
A L. B F r? T
'.'iDGE, in
6/ NY H 0 V 5 r
A.jAVCrj D-RNi 5
HARCaO
CM FIST QR'f E v m OUCnirv/ JR,
KEVIN M RO ' e. v
jOnatmam ; C'Nn'On
CANHOARRLDlVS DaWPiiai r`RJ MiDNlA
SUCDECN M. G'RSONS
SCOTT w. liOV/Ni
law or rices
Beveridge, Fairbanks & Diamond
One Farragut FouAor. South Washington, d O 20000
:r.LrRno\:
(POP)
- S' DO
February 4, 1977
Carl Eiapole:
o" coimstL
Jerome H. Heckman, Esquire Keller & Heckman Suite 1000 1150 Seventeenth Street, N.W. Washington, D.C. 20036
Dear Jerry:
I want to report to you on the results of my '-ocont discussions with all EPA regional enforcement officers eon-' cerning their progress in processing v;aim-': applications.
It appears that while the regions are making some pro gress, they are still a long way from completing the vraiver review process. In the seven regions whore there are vinyl chloride, polyvinyl chloride, or ethylene dichloride plants, there are approximately 60 formal waiver applications pending. (Many of these applications contain numerous specific waiver requests.) To date, on a national basis, only approximately six applications have been finally acted upon by EPA, all of them affirmatively. With respect to several applications, the regions are awaiting additional information requested from the companies involved. EPA estimates that within the next two weeks approximately two dozen applications will be through the paper-work stage with approval's, denials, or letters requesting additional information having boon issued. No real progress has been made on the balance of th'1 erp'j ca tions and none is expected for several weeks.
On a region-by-region basis the breakdown is Tough.";y as follows
Region I -- Boston. There are tv:o requests pendin^. EPA has completed the roviov- r.-o corns negotiate tighter complianc-; r:^^cluiX<er. --i~h the cononnios involved,
Region II -- New York. There are eight applications
631035.30
Beveridge;, Fairbanks & Diamond
Jerome Fobrua:
a re
'ioc'^an, Esquire! 1 ; 7
of them. do:or,or, F.?A reports that it is close to completion on all ap'! i'-at i ons and anticipates no special problems. Region--]. omTicial? are attempting to negotiate any differ-one?: t. t oo "eani.es through -informal phone contacts rather
p epic'a IT',: --- Philadelphia. There are six waiver anolio ata peeaa i nq in tnin region. Four have been granted arn ara rami to '-wo bo,'0 maided. Two others have been dcihrm" , ' 't r-a t: c i.pa o.os they will be issued within the
? 7 - -'-thmta. There are between seven and nine
applcc
-'.a jorrii an `:V>s region; enforcement officials
are im
an fr '-.no prari^R number. To date, two applica
tions Ir-m born unproved. it is anticipated that 'reviews of
all anpi: oe f3 ms will be completed within two weeks. T7e have
been advised '-fat the region currently intends to deny some
of the aor.l.i cati one because oquestions over compliance time
schedules. '-'he ^rpnev does not currently plan to issue
formal denials, but rather "letters of intent" to deny as
a vehicle for resolving u^y problems.
Feci on V -- Chicago. There are seven waiver requests pending "io this region. This week consultants for the region have ce-cvletod visits to certain plants. Decisions on how to ore ;'-'d on waiver applications v:ill be made during the week cf rebvunrv 7. E^A officials indicate that it is not iikelv that any applications -will be acted upon for at least a couole of weeks and that sir weeks to three months-'will be required to complete all -work. Region V is behind the others in considering waive1' anrd i ori tions .
Region VI -- Texas. There are between 20 and 22 waiver
an pi i c a t ion s. Tf-rTTn vo loon issued. Three or four companies
hew received letters rc'-uesi j.ng more information, but in
i-bes,- c^sns ITT. c -t n, ' o ,-i :
the. '' 'TVs scon. Six other
v/ai'V'. c a'.'c almcsh
croemssod and ERA expects to
c -nor1: < .r ibnu -v -tor dv:o weekr. The remaining ap-
olj.c1 -ns 1
beer, rid!--''''1 end ERA estimates that it may
bo r ' si-; works bo T-vo- i'.r, -.ork is completed; this may
turn i!: to bo a cr-vow-a ww- estimate. RegionVI reports
that '-hi1o sore rrcuostn, -or equivalent methods have been
doniv', no "-vinr ;
two been encountered with respect
631035.31
Beveridge, Fairbanks 6. Diamond
Jerome H. Heckman, Esquire February 4, 1977 Page 3
Region IX -- San Francisco. There are four appli cafr'rnr.
pending in this region. Two waivers have been tent a ti '_e 1 y
approved and are expected to be mailed within two roots. r'he
other two agpli cations are in need of further vT0'-r a ' n
"r-"
be four to six weeks before final decisions arc rco c .
I will continue to keep you apprised of these and 'ntatob develonments.
Sincerely yours.
HH: cl
cc: John R. Lawrence Robert Laundrio
Harold Himmelman
631035.32
JOSK.FH C. KELLER JEllOMi: IT. niXKMAV C7lAKI.ES M. MEETI\\ WILLIAM IX. DOIIOUFSANI, JD.
rod flit n. rrr.rivw
NsA i SI. V. } 1L \LK. DAVID L. HILL MARTIN W. BERCOViCI PETEK M. N'EMKOV JOSEPH E. HADLEY, JR. CAEOI-E C HARRIS PETER THOMAS SMITH MICHAEL F. MORRONE LARRY 5. SOLOMON JOHN D. DUBECK CHRISTINE A. MEAGHER
J.AV Ol'FTCr.S
Ki:u,er and Heck max
HT.O 17"TM STREET, N W S CITE lOOO
vastiixgton, d. c. aootto
March 4, 1977
CADt.n ADDRESS ' KELMa.N " WRITERS DIRECT DIAL NUMBER
202/457-1116
ec: J l* 4
fA ^
1/.?.
*FJ 73
To: Re:
VCM/PVC Producers Group VCM/PVC EPA Technical Committee Attendees at October 26, 1976 Meeting
SPI-VCM/PVC--EDP v. Train
Gentlemen:
Enclosed herewith is a communication just received from Gary Baise of Beveridge, Fairbanks & Diamond, Associate Counsel for Environmental Protection Agency (EPA) matters. It concerns the pending dismissal of the above referenced action, now expected to be filed on approximately April 15, 1977. Under the terms of the dismissal agreement, EPA will propose amendments to the existing Vinyl Chloride Standard at 'that time. A public hearing on the proposed amendments will probably be held about June 15, 1977.
Although we believe Mr. Baise's letter to be selfexplanatory, should you have any questions, comments or suggestions about it, please do not hesitate to contact us.
Cordially yours,
, ^ .y
/ '' fJr
( 'r /
/'
P.S.
Subsequent to the preparation of this letter , we were informed that the U.S. Court of Appeals has now denied the SPI Motion to Expedite Br iefing and Oral Arguement in EPF v. Train. This is an expected result of the
settlement negotiations.
631035.33
henry l. Diamond RICHARD M. fAPSAMKS,:U ALOfTRT j, DCvtf?:3G, GARY H Bl E A.JAMES BARNES HAROLD HIMMELMAN CHRISTOPHER H. BUCKLEY, JR.
KEVIN M. FOLEY JONATHAN 2. CANNON ANDREW MISHKIN
Charles a. patrizia SUCDEEN M.GI30CNS
scorr w. bO`a en
LAW OFFICES
Beveridge, Fairbanks & Diamond
One Farpag;;: Square 5outh
Washington. D, C. 20006
TtLEO-'O.'ii
(20S; 636-7600
March 3, 1977
CARL l A 3 ' l OP COlJN ? r _
CABLE ACCRES "iNDLA.v"
Jerome H. Heckman, Esq, Keller and Heckman 1150 17th Street, N.W. Suite 1000 Washington, D.C. 20036
Dear Jerry:
This letter will further update you wih respect to Environmental Defense Fund v. Train (C.A.D.C 76-2045).
The Environmental Defense Fund (EDF) continues
to advise that it will seek to dismiss the above
entitled action; however, the Motion to Dismiss will
not be filed until approximately April 15, 1977. On
or about the 15th, the Environmental Protection Agency
(EPA) will propose the amendments to the existing
_^
vinyl Chloride Standard. JKDB^|dismissalfi is.; contingent
^g^tiief^pubiishing of the'^roposeii amendments -
Discussions are continuing on how to handle the public comment and hearing regarding the proposed amendments. At this time we should assume there will be a public hearing on June 15, 1977. If this schedule remains unchanged, EPA would promulgate an amended Vinyl Chloride Standard by October 1, 1977. EDF and the Department of Justice (D0J) both predict there will be some slippage in this schedule.
One final note. D0J and EDF report that if a new petition to review the amended standard is filed by EDF, the petition will be limited to only those issues raised by the amendments. EDF claims it does not want to disturb the existing standard.
631035.34
Beveridge, Fairbanks & Diamond
Jerome H. Heckman, Esq. March 2, 19 7 7 Page Two
General
In discussing Section 112 of the Clean Air Act with the EDF attorneys, we are advised that they are pushing EPA to regulate Benzine under 112. Section 109 is another provision that could be used, but it would take too long to implement. Therefore, even though the health data is not as strong as EDF would like, it appears that EDF is ready to take EPA to court if the Agency refuses to list Benzine as a hazardous pollutant.
If you have any questions, please advise.
Cordially,
/ Gary H.
/
Baise
GHB/sm
1 j
631035.35
i\
n
February 21, 1977
D II Francis Director )< me :: ic Ghem i r a 1 Prod
Re: FF": vs Russell Train (USEPA) "inv-T Chloride Regulations F S Circuit Court - District of Columbia
Pursuant to a settlement meeting between USEPA and EPF (held IP February 1977), the following conceptual agree ment. without specific details, was reached by EPA and EDF (SPT and Coodvoar were not invited nor participated in the .18 February settlement meeting):
1,, EPA proposes a lower standard be attained in five years. A variance from the lower stan dard would be allowed companies showing that they are unable to meet said standard. A specific lower numerical standard has not been agreed upon.
2. RPA will agree to review the standard in five years, including all available technical and medical data.
3. EPA v7i.ll propose more restrictive new source performance standards. What limits wil1 be proposed or what technology said limits would be based upon has not yet been decided upon.
Under the conceptual agreement, no final standards would he agreed \ipon at this time. The agency would propose -op C at i o-'-s consistent with the above discussed framework. The industry would retain its rights to contest any portion of the pronosod regulation which it felt vns unreasonable. Also, under the proposal, EPA will not suggest any immediate revision of the standards for existing plants.
EPA and EDF have indicated a desire to reach a more detailed agreement within the next three to four weeks. A stipulation would he prepared, and Goodyear and SPI would have an opportunity to review the stipulation and submit sug gestions or objections.
631035.36
I will advise you
T (Wally) Ito dsp cc: F V Prus
F R Tullv T W Leary E R Moats E J Burkett W B Hirsch J M Smerglia
<
631035.37
The Society of the Plastics Industry, Inc.
355 Lexington Avenue New York. New York 10017 (212) 573-9400
TO: PVC SAFETY GROUP VOTING REPRESENTATIVES
SUBJECT: PHYSIOLOGICAL EFFECTS OF VINYL CHLORIDE AND POLYVINYL CHLORIDE
The enclosed reports represent the results of the work sponsored by the PVC Safety Group to identify and abstract technical literature relative to the Physiological Effects of Vinyl Chloride and Polyvinyl Chloride. This project was carried out by Daniel P. Boyd and Co. under the direct supervision of the Health Subcommittee.
We have created a work product here which has cost the members ap proximately $50,000. The enclosed material should be carefully reviewed by appropriate representatives in your company in order that we may have answers to the questions raised in the last two paragraphs of this letter.
These reports are broken down as follows:
1) The Users Manual for "The Physiological Effects of Vinyl Chloride and Polyvinyl Chloride"
2) Volume I - "The Physiological Effects of Vinyl Chloride and Polyvinyl Chloride" contains abstracts for numerically identi fied documents 1 through 99
3) Volume II - "The Physiological Effects of Vinyl Chloride and Polyvinyl Chloride" contains abstracts for numerically identi fied documents 100 through 433.
In addition to these reports, all of the material in these abstracts is being held in a computer file held by Daniel P. Boyd and Co. for the exclusive use of the PVC Safety Group. Access to this computer record of these abstracts can be made by member companies by direct contact with Daniel P. Boyd.
By use of selected key words it is possible to have the computer rapidly search these abstracts and identify sources for particular information. This system has already been used by several members in connection with certain workplace health concerns.
We must make a decision as to what we do with this information as far as: 1) keeping it up-to-date and 2) keeping it available for computer searches.
We would like to have you review this material and respond to both of these questions by the end of December, at the latest. Please use the attached response form for this purpose.
631035.38
t The Society f the Plastics Industry, Inc.
355 Lexington Avenue New York, New York 10017 (212) 573 9400
January 11, 1977
TO: THE VCM AND PVC PRODUCERS GROUP VOTING REPRESENTATIVES
Gentlemen:
On January 10th representatives of the EPA Committee of the VCM and PVC Producer Group met with Mr. Michael Lamorte of Research Triangle Institute (RTl) who is preparing the EPA Inspection Manual for the enforcement of the Standard on Vinyl Chloride. This meeting had been set up at his request to give, the industry an opportunity to work with them on their preparation of this Manual.
As a result of this meeting, there are several actions that will occur involving various member companies, therefore, it is important for you to review the contents of this letter and take appropriate action.
The industry representatives meeting with Mr. Lamorte were as follows:
Mr. Robert Laundrie
- General Tire & Rubber Co.
Mr. W. C. Holbrook
- B. F. Goodrich Chemical Co.
Mr. J. R. Lawrence
- SPI
Messrs. John Barr of Air Products & Chemicals and Harold Himmelman of Beveridge
Fairbanks & Diamond were unable to attend because of the weather.
Mr. Lamorte indicated his plans involving industry's assistance as follows:
1 - Plant visits for information gathering
(a) EDC/VCM Plants . Isolated plant . Integrated plant
(b) PVC Plants . Suspension plant . Dispersion plant . Bulk plant . Solution plant
"
2 - Preparation of Inspection Manual
(a) Initial draft of Inspection Manual (b) Distribute draft for SPI's review
(late April or early May) (c) Meet and discuss draft Manual with
SPI representatives (3-4 weeks after (b) above) (d) Revise Manual accordingly
3 - Plant visits to test Manual as required
631035.39
r
i
-2-
The industry representatives indicated a willingness to cooperate with the Research Triangle Institute in this endeavor in order to develop a product that will be useful and practical for EPA Inspectors. . Mr. Lamorte indicated he would like to have plants identified which would cover all of the operations involved in the Standard with variations as to age, size, and specific technologies practiced He likewise indicated his desire to obtain photographs of emission sources for inclusion in the Final Manual.
In discussing the plants to be included in the desired visits, the group selected a number of companies with operations representing the range of activities RTI desires to become acquainted with. This list is attached for your review and consideration. If your company is not designated in this tabulation, there is no need to feel left out. However, if you feel that you would like to have your plant included in this visitation, you may so indicate, particularly if you feel your operations are in any way unique compared to those that are otherwise designated. Mr. Lamorte is anxious to visit all plants with important variations in the basic manufacturing procedures. However, he would like to complete this assignment with a minimum possible number of plant visits.
Mr. Lamorte will make direct contact with the companies to be visited to arrange appropriate time schedules. During his visitation, he would like to designate equipment he would like to have photographed for inclusion in the Inspection Manual. If he requests photographs of equipment while visiting each of your facility, you would be expected to supply an appropriate photograph of such equipment. These photographs will not identify the company frcan which they have been obtained.
The attached response form should be used to indicate your willingness to take part in this program and also to indicate variations that you feel should be considered before Mr. Lamorte works out his specific plans. If you have any questions on this subject, please feel free to write or give me a call.
Very truly your^s,
JU
John R. Lawrence Technical Director
Attachments
cc: Messrs - R Harding S Nuspliger T McGrath R Lauildrie J Barr R Ferrante J Heckman J Hadley M, Swetonic G, Baise H, Hiramelman W, Holbrook
**
631035.40
ROPOSED PLANT VISITS RESEARCH TRIANGLE INSTITUTE
EDC-VCM
3. F, Goodrich Chemical Co
X
)ow Chemical USA Shell Chemical Co PPG Industries
X X X
Tirestone Plastics Co
Jnion Carbide .Carp
general Tire & Rubber Co
Cenneco Inc.
Che Pantasote Co. of N.Y.
3orden Chemical Corp ^^lyear Rubber & Tire Co
-looker Chemical Corp \ir Products & Chemicals
LATEX
FVC PROCESS SUSPENSION DISPERSION
x
BULK
SOLUTION
Xx X XX
X
X X
X X X
X
631035.41
PLEASE RETURN BY JANUARY 25, 1977
TO: Mr. John R. Lawrence Technical Director The Society of the Plastics Industry, Inc. 355 Lexington Avenue New York, New York 10017
1 - We agree X Jo not agree that it is appropriate for the VCM/FVC Producers Group to cooperate with the Research Triangle Institute in the preparation of the Inspection Manual on the EPA Vinyl Chloride Standard.
COMMENTS: * The licensor of the bulk process requires us to obtain
a confidentiality agreement for plant visits which may reveal proprietary information. We would expect RTI to execute such an agreement.
FOR THOSE COMPANIES DESIGNATED IN THE PROPOSED PLAMT VISITATION SCHEDULE.
2 - We are willing x are not willing
to have a representative from
the Research Triangle Institute vist the plants representing the processes
designated in the plant visitation schedule. *
3 - We will x will nothe willing to cooperate with the Research Triangle Institute in supplying photographs of certain phases by the processors.
4 - The contact for Mr. Lamorte in scheduling visits is:
NAME Mr F A Cox
__________
--
The Goodyear Tire & RubberCompany
ADDRESS P O Box 578
___________
Plaquemine, Louisanna 70764
TELEPHONE NO. (504) 687-2041
5 - We would like the Research Triangle Institute to vist our plant producing at (location)
for the following reason:
631035.42
Signed Voting Representative D H Francis
Company The Goodyear Ti r-g A Rubber Company
Inin (BvM)d^^33ip^3jr .^elRimlblbBii3 (Ga^mpaiiirr^
AJfcpcfaira .> (Mallo 41*4153 a <b July 29, 1977
Hr D R Goodwin Emission Standards and Engineering Division Environmental Protection Agency Research Triangle Park, North Carolina 27711
Subject:
Proposed Vinyl Chloride Emission Standard 40 CFR Part 61 as published in the Federal Register Vol. 42, No. 106, June 2, 1977
Dear Sir
The Goodyear Tire and Rubber Company has expended a considerable amount of time, manpower and money to meet the vinyl chloride standards that were promulgated in 1976. Although we had reservations about the stringency of the regulations, we have expended our maximum effort to meet the regulations. We were therefore quite disturbed when the EPA proposed these revisions to the regulations without giving industry the time or opportunity to properly evaluate the changes. Goodyear strongly supports the position of the Society of the Plastics Industry (SPI) that was presented at the EPA's July hearing.
In addition to the comments of the SPI, Goodyear believes that there is a serious omission in all of the statements and discussions presented in the proposed regulation. Bulk resins are not specifically included but previous interpretations classify bulk resins as "all others" in part 61.61 e(1)(i)(B). The proposed regulation would then require that "new resins" not exceed 100 ppm (61.61 e(l)(ii)(B). This is unacceptable as the present technology indicates that it is not possible to meet this limit for bulk resins without seriously degrading the polymer. It is, therefore, requested that this limit be maintained at 400 ppm for bulk resins, both new and existing, since this level is actually marginal according to present technology. No other method is presently known that can be used to reduce the VCM levels of the resins.
Very truly yours
jlc
cc: P D Fahrenthold, USEPA Region VI
E J Burkett, Manager Environmental Engineering
631035.43
r# ' (ajCc:
:'V;
VCM- >-< . _ .... ; -* r s ** V: &
***- ePA-*>X H*77 **, - '---r-^I^Ar'-. ^.^wPl
IjTheS l y f the Plastics | J&355 texingtorTAvenue, New York; New York 10017 >yX?>/y*; 1 '(212) 573-9400 ' :
-! s
ON THE REGULATORY FRONT
Vol, II, No. 7
EPA:
SPI.Submits Comments on Proposed Revisions to VC Standard
--
`
i On September .27,rSPIrsubmitted additional written documents to the Environ
mental Protection-Agency ~(EPA) on.the proposed revisions In the VC air emissions *
standard ... commenting'on the health-related/issues"raised by the proposed amendments,
the SRI stated... *. "we know of no Information, old or new, - that would justify lowering
least an ample
t vin ;nrecenby-study* of 7717 workers exposed ^to ` ^lh^GrVat^BriCaih^v.four:ca8es of liver 'cancer^-
cases^'were associated with .Ketgvlnyl chloride'exposure ;
evidence to support .
In an `^alysisfoft-the EPA's "Risk Assessment Document,"the SPI filing pointed
out that, a modeiihg? study^byDames and Moore which it submitted to the agency on
Augus t 9^.- fconfirmefeEPA^sJlestlmate that; "imp lementation of "the existing standard would resurt^ih roughi^^^^95^percent^reduction in ambient vinyl, chloride concentrations" ...
thajL^studjy^indijghredfthhjmean^vinyl chloride concentrations within five miles of
vEdTIA*'So typical^
plant in c__o_m_ pi jlia__n_c_et with the_ exiistin_g_ __s_t_a_n__d_a_rdj _w_o_uild be
''"on the order pf 0`?i5-0.25 'ppb." and that the proposed amendments would further reduce
ambient concentrations by less than 0.1 ppb ... the average ambient exposure before
installation of"controls was about 17 ppb, according to EPA'estimates.
, Stating^that'the- calculated risk of getting cancer from the emissions is exytremely small,' the .SPI paper-ireported that Professor Richard Wilson of Harvard, in a document already-submitted:'tb;ithe;EPA, 'said the riskijaf liying within five miles of the polyvinyl plant for one year is '.'equivalent'jtb the riskXof contracting cancer from eating one-^half tablespoon- of peanut butter. br the, risk of contracting cancer from increased cosmic radiation during a three-day visit to' Denver, Colorado, or the hazards from smoking 1/15 of a cigarette."
631035.44
SPI Meets With EPA on VC Standard
On September 29, SP.I again met with officials of EPA to determine if the agency would consider withdrawing the proposed "zero emission" goal and the proposed offset requirements ... EPA indicated no willingness to drop the "zero emission" goal ... SPI now is seeking a personal meeting with EPA Administrator Douglas M. Costle. _
SPI Renews Request For "Hybrid" Hearing on VC Standard
On August 19, SPI renewed its request to the EPA to provide "hybrid" public hearings which would provide more opportunities for the industry to present its case with greater1 accuracy ... EPA replied on September 13 that the request was being evaluated and a reply would be forthcoming.
fe. MCA Challenges EPA on VC "Zero Emission" Approach
- On September, 23, The Manufacturing Chemists Association (MCA) challenged the
EPA^s "zero -risk/zero emission" approach to regulation of vinyl chloride emissions as
being "contrarytto nature's laws of conservation'of'mass arid'energy"
in a letter to
EPA Administrator Costle; jllCA President William "3.^Privef "said EPA reasoning that the
only ^'adequate margin' of safety"for ^vinyl? chloride*7isAzero emission was spurious . .
better approach would'be ".close icooperativefmoriitbring ,and continued exchange of scientific
engineering ,^d .economicldatay;. virintmeanwhilesMCAlarecommends ? that proposal be withdrawn.
SPI Receives Documents Under>Freedomfof ^Information Act
'S'T'. ..... , , .
On August `30,\SP1 ^received from-tthe EPA A"number'of documents that had been submitted to produced-by? the Agency* ih^ the "period when .the revised vinyl chloride
standards were- being.-considered *: ... documents requested ;,by SPI were obtained under provisions.;Ofg^he;;Freedom>-off Information lAct iy^^ie^papers are now being analyzed for
possible^use by ~,tli^"SPI; in**opposing the'proposed revisions in the VC air emission "
a:'
'
/
' ''-M-k":
.
..............
EPA Names Toxic Substances Advisory Committee
On September 28,- EPA announced the appointment of 16 members to the Agency's newly-created Toxic Substances Advisory Committee ... three industry representatives are from Du Pont, Eastman Kodak and Hardwicke Chemical Company ... others are from conservation and environmental'groups, medical ,schools and institutes, local government agencies, the-League of Women^ Voters-and'':therAFL-CIO.;i' ^-`
FDA:
\
FDA Issues Final Order Banning AN Beverage Containers
031035.45
t On September 19, the Food and Drug Administration (FDA) issued a final order
banning the use of acrylonitrile (AN) in the fabrication of beverage bottles ... ban
tikes effect 90 d'ivs after its Sentemher a a --mV,! init-inn in tlis
4 c- + ci v
orderfsigned by FDA Commissioner Donald Kennedy said that contention that packaging .
material was not a "food additive" is inconsistent with the statute*a language and^the.
Congressional purpose in enacting the food additive provisions ... also that the
statutory language "does not require the amount of -the migrating substance be analytically
detectable or quantifiable or exceed some minimum threshold level before the substance73jjft\
can be-considered a component of food"..
; '-rsV.1 .
V-;V-^i ",
V
:fr; * c Hardline AN Ruling by FDA May Presage FVC Action
Hardline action by FDA Commissioner Donald Kennedy in banning the use lof acrylonitrile (AN) beverage bottles on the "migration issue" may lead to rapid action on FDA's PVC proposal, the September 26, Food Chemical News reports.
dUi. :
OSHA:
---------' i;
.
SPI Calls OSHA Proposal on Carcinogens a "Quick Fix"
t On October 3, SPI President Ralph L. Harding, responding to a 278-page proposal
announced by the Occupational Safety and Health Administration earlier that same day,
, said jtheltxSPI j"is in fundamental disagreement with OSHA's apparent intent to rush
unequivocal !nforcement judgmentsion the basis of limited scientific knowledge of car-,
cinogens^^^^^lie ,^OSHA plan for .controlling worker exposure to toxic materials would
set up^a^rocedure^ior identifying,' classifying-and iregulatihg various types of car-
dlnogenlc'substances posing-hazards to* workers X,.rSPj ,said ;"we feel OSHA ... is
; placingAundue reliance on limited nnlmalltesis^to' demonstrate carcinogens ,... also OSHA^
^assumcsythere^ls %io ^safe ^hresttbld^or^potentijil^^ginbgdnS'Hr^C premise irith which
|we ; tot allyMisa^greeV;
'* -
''
"Bafetyf
"
^Ni'.atib4r4ia-^ltA:Qdnv"isTory;a'evCmob-me rn?' r2L3t^te,e-'o.n_^iccupatioiial^Safetyli&ndk^r:Hjef raPlt,h'_TlXCfViNvVeAirAC-nrOe^inwSic'tHmi\)em.b.e.rs
to the among tt-h'k e
Vvnew 'jnembersdi'ere'SAndrea Hrickoj^formerlv^Jtfith ithe^ Healtbr Research Group and now; with the dgeftor of aiOSH
' iyCeia
e-^UniverBity&pfMrexaa.if^^lsoj.namea^Iwere Dr: Ernest M. Dixon of , ; . Srp^^^i^lP^^te^^^lo^^^^a^fitr^Qf^tLhe'llnivetsity of Michigan and Claudia
MilMrt^^JplriVa^^cbnsuitdntp^^the^ther industry member of the Committee is
'Dr>^aul^o^in^^^^hns^^nvi^iy^orpb`ration. :'''t ,V'-
ON THE LEGISLATIVE`FRONT
''d-'V'VA, '
" L^-
'' f ' L, :
. In the States " .
\traC'-
; , 5 %X
' ' '* 1 .V*1>'!C'^SS4.'!''7rfc.,Si'i'^ i
4t*'
Lwd
In New;'Jersey,: ,,the Cancer- Control Bill (S. 3035), which would have banned 14
kno3wn chem^ ical .c..a...r.c, inoge. nsJ ,--p-lruysjV:asZbe. stos. and vinyl chlorid..e. , '_w_a_s__a_m__e_nded to delete
theiban....p..r..o-vision.
..... ..................................... :
V',
Wi'T0irX
.I'-',1'. X
-t;
631035.46
ON SHE '-TECHNICAL . FRONTS
/ fyy
; -r
..,
`
Employees -'of PVC Fabricators'Studied-.fori Anglosarcoma
.
A cross-section mortality study*<>f^ffi4T*-deaths -among ^current*? and former *J
the digestive system and, in particular,"-in'cancers of the Intestine'for both* men 'andV
women."
- J_
;
;v.
The article's authors warn that while -the current- study'suggests an excess^ih
total cancer . . . it does not point to marked excesses for cancers of 'the^liverlung; and brain among white men, although the PMR's;(proportionate mortality ratios);forSthese cancers are greater than one ... such results',' the authors say, must be .interpreted^'' with caution, but since they appear to be consistent with previously studied-workers, 'j they suggest the need for continued Investigation.
EPF Submits PVC -Study to>EPA On October' 4, the;'invifdnmeA^^^Def'e^^^'^^^l:DF^^^^^ted^a?
the EDF requests that"itj proposed amendments
ON THE MEDIA FRONT
Ten Groupslnf^h^i^cal^<
The Interagencyi Toxic Substances ControliACt(TSCA)
tests
eightrecommended!
Mm. 9^
mraV
Lng?
groups on the list are .toluene* arid xylenes>^ffi^$elected^firoups * are^toghe1 possible cance^causing properties,^mutagenic'/effects^a'nd^the pbtentTa_l^^^.J^OSS] -embryonic malformations in'women exposed to than1 ;-^Be^ask"'force^Is^8ro.rw;*^*** through a list of 330 chemical substances 'singled out for study in. July.^''^
If Money Causes' Cancer .TsV -Ban
'!y ;
V!Vi
ffiv+'f, -V V . v,-* 'fi * ; "S
Two medical doctors from :DenverGeneraly-_H_o_sp,_____ concerned t about pronouncements" by. the-FDA on cancer ^dangers, -'repor t4Toh^&1?unusual' experLmen^
*con- -
ducted in a letter to the editor ,,in'< the;?August 11, Joufnal!`rof !the Americatf^edicalfAsso-
clation (JAMA) ... ten months after - inserting-"'sterilized .dimes - into therperitpneal;cavity of 35 rats the first cancer was noted .'by 14 months-nine rats had , cancerij^nd. nine ha~dJ^
distinct abdominal masses'-- based onItheir" findingsthe doctors estimated ^Kat '
"malignant neoplasms will develop in more than',-50 percent -ofthe'
'
; "J' - t;
/'j[ 631035/
1*
Gilmore, Jo
Tcual^-JlllkL, tin Htwbaml, br- B.
KePftaghawfj ov 'U'fm--i T
//-X
Hh-
mZmL
TmZL
it- 7
Zutr^
IZZjL
"c' 'r?<
Ozca.
- nfij
631035.49
'*"'***.
frrr
Tot C A Johnson M.D. D H Francis K 3 Burfeett W It Cox D R Martin J N Qilmors (H.F)i/
F Cox (Plaq.)
February 19 1976
?M
k HE
REPORT <F MEBTIRQ ORC Tim CHLORIDE TASK FCECS
Washington, D.C. - February 10 1976
R H Wheeler (Union Carbide) attended recent KPA Hearings and reviewed those for the group,
1. Results of the Pottstoun study will be published la the near fixture*
2* Deadline fbr submission of oonmenta to SPA is
February 2^
% The final EPA Standard will be in affect by June 15 1976 or sooner. Anticipated that a 90 day compliance period will be allowed.
4. Standard calls for a 10 ppm emission Unit. SPX Union Carbide and others will try to get this nsatoum limit changed to allow for averaging over a 30 day period or longer.
Tanneoo representatives believed there is no way to meet requirements of the Standard within the allotted tine fane. Soma specific areas of concern were*
1. What type of information will be necessary to support request for waiver. Environmental monitoring data necessary?
2. Reed for standby power source at Plants. 3. SPA attitude on **anual venting* of reactors. 4c Page 59539----"operator errors are considered
to be preventable*.
Repercussion of low SPA emission level may be lowering of OSHA personnel xposure levels within the Plants.
631035.50
Though OSHA la not currently Intending to rewrite or ndify the aiat^e Vinyl Chloride Standard they have expressed Intention to rewrite the Field Directive (200-35), covering Interpretation of the Standard. Leo Teplov will determine if OSHA has any Interest in cooperating with the QRC Task Force In rewriting this Directive,,
Definition of "fabricated product" discussed. This Is a product that will not produce atmospheric vinyl chloride concentrations in excess of the "action level*. There are dispersion, solution and bulk resins now manufactured by Union Carbide that are considered "fabricated products", and not labelled.
Other areas requiring clarification are massive release, emergency, record keeping requirements, medical surveillance.
Some companies are regarding tank oar unloading areas as "hazardous" areas, not "regulated" areas.
Panasote has stopped charcoal tube monitoring of personnel and performs only area monitoring. This has apparently been approved by letter from QSHA.
An QSHA citation was received by one company for failure to provide adequate employee training tinder the Vinyl Chloride Standard.
Italian studies on hazard of PVC dust are continuing but no new information available.
R V Modrell or
Corporate Industrial Hygiene
631035.51
TO: FROM: DATED:
THE VINYLS TOXICOLOGY SUBCOMMITTEE H. P. TONER, ASSISTANT TECHNICAL DIRECTOR NOVEMBER 1, 1978
Ms Ctetsiu
For your reference, attached is a copy of a translation of the German Epidemiology study that was mentioned at the October 12 meeting.
1. HPT:ale ENC.
cc: Mr. J. R. Lawrence Mr. T. Torkelson
631035.52
In response to the OSHA request for information relative to health hazards from over exposure to vinyl chloride and polyvinyl chloride, there will be a meeting of the FVC Safety Group's Health Committee on Thursday, February 7, 1980 at the New Orleans Marriott Hotel, New Orleans, Louisiana, from 1:00 p.m. through 5:00 p.m. This meeting is being held in the Chartres Room of the hotel.
This location and time has been set up to coordinate with the meeting of the FVC Safety Group's Steering Committee on February 8 and in conjunction with the Chlorine Institute Annual Meeting occurring in New Orleans earlier that week.
The principle items on the agenda will be as follows:
. Review and critique of the 12 documents cited in the December 18, 1979 Federal Register (copy attached).
. Discussion on new industry studies. (Attendees should come prepared to present any new company data or data from other sources which should be considered for submission to OSHA).
Recommendations for Industry response to the OSHA request.
Please call Mrs. Gloria Pyne (212/573-9437) as soon as possible indicating your plans for attending this meeting.
Technical Director
JRL:gp Attachment
631035.53
P/C /w/A
NO 0
Road Garded*CHy HerttordaNre AL7 1H0
OCT 2 7 1978
Welwyn Garten 23400 (STD Code 07073)
264251
12 N. WHFI
ofmpenar
Chemical--------- -
Industries Limited
From J Stafford Division Manager Health A Xnvironsent Protection
FED^Ws'l/ Divisjon
To
See Circulation Below
Copreite
TO: SPI VINYL SUBCOMMITTEE
FROM: W D Davis/R N Wheeler November 28, 1978
Your ref.
PVC DOST
Our ret
JS/AMB/DS0-107
Tel ext
3162
Date
17 October 1978
You may ears to see the attached latter and NIOSH report I have received froa Dr Douglas of DtAS. Thia report saew reassuring but I would welcoa the opinion of our Medical Coasittee who have been considering how to design a good PVC dust inhalation study. Has the need for such a study disappeared as a result of the NI06H work? Dr M N Johnson of B F Goodri h,
when he saw us on 9 October, knew of these results but was critical that
the rodent species were sacrificed at 12 sooths (aonkeya 22 souths). Dr Johnson thought that a well conducted full life study on PVC dust .in-* halation should still be considered and the possibility of Transatlantic cooperation explored to derive both protocol and funding.
Circulation
Dr V G F Adana Dr D P Duffield Dr G Pigott Dr B W Duck Dr M Sharrstt Dr P Grasse Dr J T Carter Dr D V Plaster Dr 0 Paddle Dr K S Villlanson Dr X F H Purchase Sir C Lawrence Jones Dr F V Best Mr 0 J Sleddon Mr W Adans Mr B Hards Mr P H M Sharroek Mr T L Phillips Hr B N P Hutehesson Mr H M Clayton
Mr T V Moffitt Dr L de Boer Dr J G Kaanuller Mr J C Thonas Mr M Bonnefoy Dr T Garlands Dr H N Johnson Dr T R Torkelson
tfXr.B N.Whealer (Jr)?
JS (2)
Dr R I Davies, 1CI Melbourne Mr K H White, Duperial SAIC Chief Medical Officer, AKI
631035.54
Health &
Safety Executive
Baynards House 1 Chepstow Place London W2 4TF
Telephone 01-2Z9 3456
Dr J Stafford Division Manager Health & Environment Protection ICI Limited, Plastics Division P 0 Box No 6 Bessemer Hoad Welwyn Carden City AL7 1HD
Your reference
Our reference
1/MS/406/225/73
Ojtc
6 October 1978
Dear Dr Stafford
PVC DUST
Thank you for sending me a copy of Waxweiler's report on PVC dust and the item from Tox-Tips. Both will be discussed at the next tri-partite medical meeting which should take place in late November. Dr Elliott Harris the head of the Division of Bio-Medical and Behavioural Science, NIOSH, was here on Tuesday 3 October and told me that the study by Dr Trent Lewis had been completed and no evidence of carcinogenicity or pneumoconiosis had been found in any of the animal species. I enclose copies of the reports given to me by Dr Harris.
Yours sincerely
4 e.
D B Douglas Deputy Director of Medical Services
631035.55
PVC Chronic Inhalation Toxicology Study
Polyvinyl chloride (PVC) le widely used in various forms. Rigid
PVC Is used for cubing and fleeing* (Insulation material and drainage
pipe), foils, films and sheeting (packaging, recording tapes), profiles
(blinds, window frames), tiles, sound records, and fibers. Flexible
PVC Is used for cables, foils (decoration, roof covering), tubing,
i artificial leather, flooring, foam rubber, paint, varnish (lacquer),
jj
and toys. Reports of pulmonary dysfunction and pneumoconiosis in PVC workers
and dust exposed animals point to the need for further studies on the
toxicological properties of the polymer. Also, cases of still-births,
miscarriages and malformations among workers engaged In the polymeriza
tion of vinyl chloride have aroused great interest In the toxicological
properties of PVC. Since PVC is a fine volatile dust, pathogenic
effects of the lungs may be anticipated.
B. F. Goodrich Company is a supplier of resins for vinyl dispersions
using the trade name "Geon." The dispersions are fluid suspensions of
special fine particle-size polyvinyl chloride resins in plasticizing
liquids. When the system Is heated to about 148 to 177*C (300 to 350*F),
fusion (mutual solubilization of resin and plasticizer) takes place.
The dispersion turns into a homogeneous hot melt. When the melt is -4 cooled below 30 to 60*C (122 to 140*F), it becomes a tough vinyl product.
The term "plaatlaol" is used to describe a vinyl dispersion which
contains no volatila thlnners or diluents. Plastlsols often contain
stabilizers, fillers, and pigments along with the essentials, dispersion
resin and liquid plasticizer, but all ingredients have very low volatility
under the processing and use conditions.
Geon \21 is a high molecular weight resin. It has been the standard
of the plastlsol Industry for over 23 years and is an excellent resin for 1 starting point formulations. Currently, it is being used in dip, slush
and rotational molding, spread coating, foam coating and molding, crown
and jar seals, and caulks and sealants.
In light of the relationship unequivocally established between
occupational exposure to vinyl chloride monomer and liver angiosarcoma,
and the concern expressed on potential risks to human health from exposure
to polyvinyl chloride (PVC) dusts manufactured and used from polymerization
of the vinyl chloride monomer, OBBS in FY'75 In its project plan on
"Chronic Exploratory Toxicology Studies and Teat of Validity of Industrial
Air Standards" proposed an inhalation exposure study with PVC dust. Actual
exposures to s representative material (B. F. Goodrich Company, Geon 121)
began in February 1976 utilizing three species of animals -- monkey, guinea
pig and rat*-- a 6-6-1/2 hours per day, 5 days per week exposure regimen,
and at a 10 mg/m respirable PVC dust concentration. Exposure duration
was for 22 months. The following table summarizes the above data.
631035.56
Anteal Species
Monkey Guinea Pig
Rat
Selected Data from PVC Chronic Inhalation Exposure Study (Ceon 121)
No. per Group Exposed Control
Duration of Exposure
Calendar Days
Exposure Days
Exposure Hrs.
Mean PVC Cone.
mg/m*
Mean Range of Cone.
mg/n -
10 10 AO AO 80 80
690 A6A 2818 10.8 A.65-9.25
379 2A5 1A28 10.6
-
376
2AA
1A2A
* 10.6
-
* CT Values (tnft/m -Hrs.)
Intended Actual
28,180 1A,700 1A.6A0
30,510 1A ,696 1A.627
u> ou>
Ln --4
Particle size analysis of collected exposure chamber samples Indicated that the generated PVC dust was of a geometric mean diameter of 0.53um vfth more than 99X of the sampled particles below 5.0pm; 82X below 1.0pm. The manufacturer's specifications data states a particle size ! range for Ceon 121 of between 0.5 and 1.5pm.
Exposure System: Chambers used In the study were five feet square, stainless steel, and featured a dynamic airflow system of 40 cubic feet i * per minute under a negative chamber pressure of approximately 0.2" HjO. ' II The PVC aerosol was generated by means of a Wright Dust Feed Mechanism I and the dual dispersed Into the chamber at a race sufficient to maintain the desired 10 mg/m* concentration. Gravimetric analyses were made four times per day on collected membrane filter samples for total dust con centrations, and once per day for respirable dust (10-plate horizontal elutriator sample).
Biological response data evaluated from the exposed and control animals at time of serial sacrifice/evaluation Included:
Biochemical/Clinical Chemistry (Guinea Pig, Rat only): (SCOT, SGPT, alkaline phosphatase, gamma glutamyl transpeptidase, total protein and serum protein electrophoresis). No significant differences were indi cated in rats for any parameter. Guinea pig data shoved controls with higher SCOT, SGPT, and alkaline phosphatase. It was concluded that no extensive liver damage was detected by any of the liver clinical indicator tests used. However, a sizable amount of liver damage must occur before these tests would indicate abnormalcy. One cannot conclude chat there Is no liver damage; but only that there is no extensive liver involvement.
Pathology (All species): No significant alterations in liver tissue. The only contribution of the Inhaled PVC dqat deposition and retention to pulmonary tissue morphology was aggregation of PVC-contalning macro phages (refer to attached pathology reports and to report on Amorphous Silica exposed and control monkeys).
Pulmonary Function (Monkey only): Fasted, exposed and control monkeys were tested for pulmonary function one day following their last exposure. Evaluations were accomplished through use of a variable pressure, wholebody plethysmograph. Tests evaluated were: Total lung capacity (TLC); vital capacity (VC); inspiratory capacity (IC); residual volume (RV) divided by total lung capacity (RV/TLC); forced expiratory volume in 0. 5 seconds (FeV 0.5); forced expiratory volume in 1.0 seconds (FeV 1.0); peak expiratory flow (PF); maximum mid expiratory flow (MMF); maximum expiratory flow volume curves (MEFV) at 50X, 25X and 10X of vital capacity; resistance; and compliance.
A summary of the extensive pulmonary function evaluations Indicated some signs of loss of lung recoil pressure, probably a result of the animals' aging process. In most cases differences were noted during the second and third testing periods (exposure months 6 and 14) and were indi cative of some small airway obstruction. At this time, however, these differences were not statistically significant. At the last evaluation (month 22) compared with baseline (pre-exposure) data there were no signi ficant differences for any parameter tested. Impairment of respiratory function does not appear to be indicated under the conditions of this study from exposure to respirable PVC dust.
Attachments
631035.58
I';'l l.y vKTTv7t:itl7 uitx
CENTF.K I OH IIIMAM CONI HOI NATIONAL INttlTtlTK FUN (K ( lll'AIIONAL SAITJI V ANII Mr Aim
1 .) : Chief, USB THROUGH: Chief, Pathology Section
DATE: May 5, 1977
yr
FROM
Veterinary Pathologist, Pathology Section
SUlljr.CT: Pathology Repott on Rats Exposed to PVC
Male rats were exposed by inhalation to polyvinyl chloride (PVC), respirable concentration 10 rag/m , for 6 hours/day for 5 days/veek for a period of 12 months. The animals were sacrificed lomediatcly after 12 wmchs of exposure to PVC. The following tissues on each animal were saved at necropsy for histopathology evaluation: lungs, liver, heart, spleen, kidney, pancreas, adrenal, thyroid, testis, and urinary bladder. The histopathology evaluation was performed on a total of 121 (exposed 57, control 64) male rats.
1,1 Rats exposed to PVC 10 mg/m for 6 hours/day for 5 days/week
by Inhalation.
Path. Aces. Ko.: 76-1329, 76-1337, 76-1338, 76-1340 to -1393.
Gross pathology:
Lungs:
Multiple white foci of varying size either in one
or more lobes of the lungs were seen In 76-1337,
-1338, -1344, -1345, -1347, -1348, -1350, -1353,
-1354, -1363, -1367, -1369, -1373, -1379, -1385,
and -1387. "Abscess" was seen in the lungs of
each of 76-1346, -1351, -1352, -1363, and -1378.
"Tumor" measuring 1.5 x 2.0 cm and weighing 2.90 gra
was seen In 76-1375.
Liver:
Enlarged dark red liver was seen in 76-1337.
Kidney: Small mineralized areas (stones) were seen in the
kidneys of 76-1363 and 76-1366.
Pituitary gland: Enlarged (10X) pituitary was seen in 76-1338.
Histopathology:
Lungs:
The lesions conroonly associated with the chronic
murine pneumonia (bronchiectasis, peribronchial,
and perivascular accumulations of lymphocytes, .Coca]
chronic active bronchitis and bronchiolitis, fo<a]
atelectasis) were seen in all -rats. Vascular
(arterial) wall mineralization was seen in all rats.
Focal intense macrophage accumulations (solid sheets),
sometimes displacing the normal structures, were- seen.
Most of these macrophages had varying size globular
to spherical structures in the cytoplasm (foam colls).
631035.59
Chief, BSB
These dense conglomerations of macrophages were
occasionally associated with mild blue staining
(mucin?) fluid material. The above-mentioned
macrophages or macrophages surrounded by fluid
when accumulated at the periphery of the lung
probably imparted the appearance of "white foci"
grossly seen in the lungs. The intracellular
material in these macrophages was probably parti
cles of the PVC. No birefringence was seen among
these. Dr. Stettlcr and Mr. George MacUay informed
me that these, indeed, were PVC particles, based
on electron probe analysis of some lungs from
the rats exposed to PVC by inhalation as well as
by intravenous injection. The macrophage accumu
lations apart from physical displacement of the
lung parenchyma do not seem to bestow any dele
terious effects on these rats. No alterations
(hyperplasia, etc.) of the alveolar or bronchial
epithelium attributable to treatment were seen in
these rats.
Tracheobronchial lymph nodes (TBLN): Macrophage accumulations
as seen In the lungs were seen in the medulla and
cortex of all the TBLNs examined. Reactive hyper
plasia of germinal centers was also seen.
Liver:
Mild fatty infiltration of hcpntocytes was seen
In 76-1338. Extra medullary hematopoiesis (mild)
was seen in 76-1364 and 76-1371.
Spleen:
Macrophages containing yellow granular material in
the cytoplasm and extramedullary hematopoiesis were
seen in all the spleens examined.
Heart:
Mild focal myocarditis was seen In 76-1337, -1363,
and -1377.
Kidney:
Multifocal mineralized areas of the tubules or the
transitional epithelium of the kidney pelvis were
seen in 76-1348, -1353, -1356, -1363, and -1366.
Focal tubular dilatation, focal tubular epithelial
degeneration and regeneration and mild lymphocyte
accumulations ware seen in 76-1351, -1356, -1357,
-1363, -1370, -1376, -1381, -1382 to -1384, -1387,
-1388, -1390 to -1392.
Pancreas: Mild hyperplasia of the islets of Langerhons was
seen in 76-1355. -1361, -1363, -1364, -1367, -1368,
-1370 to -1372, -1376, -1377, -1379 to -1381, -1385
to -1389, and -1391 to -1393.
Adrenal: Moderate fatty infiltration of the epithelium of
the cortex was seen in 76-1341 to -1344, -1348 to
-1350, -1369, -1370, -1378, and -1381, An adrenal
cortical adenoma was seen In each of 76-1365 and
76-1371. A pbnochromocycoma was scon in 76-1358.
2
631035.60
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3
Thyroid: Cyst(s) containing keratin was seen in 76-1337,
-1338, -1361, -1362, -1365, -1366, -1353, -1355
to -1357, -1360, -1361, -1366, -1365, -1370,
-1372, -1376, -1375, -1379 to -1382, -1388, -1391
to -139 3.
Testis:
Vessel (artery) wall mineralization was seen in
76-1358, -1378, -1385, and -1390. Mild hyperplasia
of interstitial cells and atrophy of seminiferous
tidiules were seen in 76-1367, -1353, -1358, -1361,
-1365, -1370, and -1378.
Lymph node: Chronic lymph adenitis was seen in 76-1375. The
lymph node was adjacent to a major artery suggesting
It to be a mediastinal lymph node.
Pituitary: A chromophobe adenoma was seen in 76-1338.
All the other organs examined were unremarkable.
1.2 Untreated Male Rats Path. Accs. No.: 76-1396 to -1631, 76-1510 to -1520, 76*1523 to -1537, 76-1539 to -1568. Gross pathology: A cataract of Che right eye was seen in 76-1396. Consolidation of lung lobes was seen in 76-1395, -1400, -1416, -1527, -1530, -1537, -1540, -1546,
and -1547. Brown discoloration (76-1405) and an abscess was seen in the lungs (76-1418). A
Histopathology:
multiloculated mass 2.5 x 3.0 cm was seen attached to mesentery in 76-1427. Renal calculi were seen in 76-1518.
Lungs:
TBLN: Liver: Spleen:
The morphological changes associated with the chronic murine pneumonia and pulmonary vascular wall minerali zation as seen in 1.1 were seen in all rats. Macro phage accumulations of far lesser degree in intensity were seen in all ra.s. These macrophages did not congregate in a solid sheet as seen in 1.1. The cyto plasm of most of these macrophages contained granular eosinophilic material. No alveolar or bronchial epithelial hyperplasia was seen in any rat. Otronic reactive hyperplasia was a common finding in all rats. A single cyst was seen in each of 76-1397 and 76-1399. The changes seen were similar to those seen in 1.1 in ell rats.
Heart: Pancreas:
Mild focal myocarditis was seen in each of 76-1401, -1402, -1405, -1407, and -1415. Mild hyperplasia of endocrine elements was seen in 76-1395 to -1399, -1402, -1404 to -1410, -1414 to -1418, -3420, -1421, -1424 to -1426, -1426, -1429, -1510, -1511, -1514, -1515, -1518 to -1523, -1532, -1539 to -J542, and -1545.
631035.61
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4
Kidney:
Adrenal: Thyroid: Tea els: Eye: Mass:
Tubular epithelial degeneration and regeneration, occasional tubular dilatation and focal mild lympho cytic accumulation were seen in 76-1394, -1396, -1397, -1399, -1401 to -1403, -1405, -1409, -1412, -1417 to -1419, -1421, -1422, -1425, -1431, -1515, -1524, -1527, -1534, -1546, and -1548. Focnl mineralization of titular epithelium nud/or the transitional epithelium of the renal pelvis was seen in 76-1518, -1527, and -1533. Adenoma of the adrenal cortex was noticed in 76-1400, -1518, -1523, and -1544. Phcochromocytomn was seen in 76-1548. Moderate fatty infiltration of the cortex was seen in 76-1410 and 76-1544. Cyst(c) containing keratin was seen in 76-1395, -1397, -1399, -1402, -1403, -1406, -1410 to -1412, -1416, -1417, -1419, -1420, -1422, -1423, -1425 to -1427, -1429, -1510, -1512 to -1515, -1517, -1519 to -1527, -1529, -1530, -1532 to -1534, -1536, -1541, -1543 to -1548. Atrophy of seminiferous tubules and Leydig cell hyper plasia was seen in 76-1395, -1400, -1514, -1516, -3533, -1541, and -1548. Vessel (artery) wall calcification was seen in 76-1398 and 76-1533. Focal moderate mineralization of seminiferous tibulcs was seen in 76-1418, -1510, and -1517. 76-1396: Hctin.il aLrophy - .unilateral. Adhesions between the retina and lens with dystrophic calcifi cation at some foci. TVo lens protein was well oriented witli occasional basophilic bodies, probably nuclei from decidual lens cells, The calcific deposits coupled with the hyallnlzucion of sclera imparted the opacity to the lens; cataract seen grossly. 76-1427: Granuloma of mesenteric fat.
Comment: For comparison, this comment shall include rat and guinea pig data. Both the rats and the guinea pigs exposed to FVC by inhalation exhibited the presence of PVC particulates in the pulmonary macrophages, although the pottern of macrophage accumulation between the two species differed. There was no inflammatory or any other deleterious effect seen in the lungs of these animals that could be attributable to FVC inhalation.
The incidence of perivascular lymphoid aggregations in the lungs Of guinea pigs was similar in both exposed and controls. The presence of bony spicules in the lungs of exposed and control guinea pigs was observed. The patho genesis of these two conditions is not known (Thompson, S. W., Hunt, R. D. ct al: Am. J. Path. 40:507-517 (1962); Kaufman, A. F. : Lab. Anim. Care 20:1002-1003 (1970)) and ic worth exploring ns NIOSH uses guinea pigs as
631035.62
Chief, BSB
5
one species of animals in biological experiments. The nephroealcinosis
seen in the exposed and control guinea pigs may be related to diet
(J. C. Woodard: Am. J. Path. 65:253-268 (1971) nnd 65:269-278 (1.971)).
Corollary to the above observation was the finding of Invariable fatty
infiltration of exocrine and endocrine elements of the pancreas in both
the exposed and control guinea pigs and the hyperplasia of islets of
langerhans seen in both the rats and the guinea pigs employed in this
experiment. In addition, the vascular wall calcification in the pul
monary vessels of rats is disturbing. All of these "incidental" findings
strongly suggest that these animals had metAbollc problems probably
related to the animal diet. The changes seen in the testes of rats were
non-specific and probably not related to treatment. The incidence of
neoplasms in the adrenals of rats is within the normal range observed
for Spraguc-Oawlcy rats of this age.
^
631035.63
MEMORANDUM
I O Chief, ETB Through: Director, DBBS __ Chief, BSB
Ubt'AK i MtN r OF HEALTH. EDUCATION. AND W'lIi TAK
PUBLIC HEAITII SF.RVK'F
CENTER fOI IMlKASt' CONTXIL NATIONAL INJTITUTF. FOR OCTUPA 1 ION At SAITJY AND llftl Jit
OATH: September 6, 1978
FROM
1 -i
SUBJECT:
Research Veterinary Medical Officer Pathology Report on Monkeys Exposed to PVC
i
i
Ten male Cynomolgus monkeys were exposed to PVC at 10 mg/m by Inhalation for 6 hours/day, 5 days/week for almost 22 months.
Control male monkeys (10) were maintained in an open animal room
i in their Individual cages. The monkeys were killed within 48 hours
after the final exposure. At the time of autopsy* tissues from the
lungs (all lobes with trachea), thyroid, heart, tracheobronchial
lymph nodes (TBLN), mesenteric lymph nodes (MLN)> liver, spleen,
kidney, urinary bladder, prostate, testis, stomach (pylorus),
; duodenum, pancreas, adrenals, and skin from the abdomen were saved for histopathology.
1.1 Control Monkeys Path. Accss. 077-2975, 77-2979. 77-2981, 77-2983 to 77-2986, 77-2991, 77-2993 and 77-2994. Gross and histopatholoRy: See the pathology report on monkeys exposed to Silica-F.
1.2 Monkeys Exposed to PVC
Path. Accss. 077-2974, 77-2976, 77-2980, 77-2982, 77-2988,
77-2989, 77-2995, 77-2996, 77-2997 and 77-2999.
Gross Pathology: Adhesions between the lobes of the lung and
the thoracic wall were seen in 77-2980, 77-2995 and 77-2997.
Multiple black areas were seen in the lungs of 77-2976, 77-2980,
77-2982, 77-2988, 77-2989, 77-2996, 77-2997 and 77-2999. En
larged end black MLNs were seen in 77-2974 and 77-2976.
Histopathology:
Lung:
Macrophages with anisotropic particles as In the
controls were similarly present in all these monkeys.
Admixed with these macrophages were other macrophages
with spherical material (PVC) of varying size in the
cytoplasm. About 15Z of the total macrophage aggre
gates (macules) in 77-2997, 77-2988 and 77-2980
contained black to brown anisotropic particles of
the same degree of deposition as in the controls.
In the rest of the PVC exposed monkeys 20 to 22Z of
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Chief, ETB
2
the macules had theae black to brown particles. A total of 110 macrophage aggregates were seen at 25X magnification In most of the lungs. The diameter of many of these aggregates varied from 100 to 200w while the largest, present In * the alveolar region, measured A75g. The macro phage aggregates were present in the alveolar walls, alveoli, partially obstructing the alveolar lumens. They were also present around tertiary bronchioles and in some alveolar ducts without causing observable obstruction. A few places showed submucosal accumulations with no polypoidal projections. With phase contrast illumination these macrophage accumulations appear as blue aggregates. This tinctorial character is distinct from the macrophage aggregates seen in amorphous ! silica (F, G and F) exposed monkeys.
Focal hyperplasia of type II cells was present
t in 77-2989. Smooth muscle hyperplasia was seen -,1 around blood vessels and alveolar walls in 77-2996. >-i Acute bronchopneumonia was seen in 77-2988. Plant
material was present in a bronchus in 77-2999.
Multiple gaint cells away from the plant material
were seen in the 77-2999. Non-inflammatory arteriopathy
as in the controls was present in all these monkeys.
TBLM:
As in the controls the medulla contained macrophages
with anisotropic particles. In addition, other macro
* 1
phages with cytoplasmic material (PVC - blue in color see lung) were present. Together, these macrophages
replaced most of the medulla of the TBINs in all
monkeys.
Liver: Diffuse fatty infiltration of the hepatocytes was
present in 77-2982 and 77-2996.
Kidney: Multifocal calcification of cortical tubules was seen
in 77-2995.
MLN:
See the controls.
The other tissues examined were unremarkable.
Comment: A slightly higher number of macrophage aggregates containing black and brown birefringent particles were seen in PVC exposed than in the control monkeys. The pattern of distribution of the macrophage accumulations in the PVC exposed and the amorphous silica (F, G and P) exposed monkey lungs and the TBLNs was similar. The macules were smaller in size in PVC exposed than those seen in the amorphous silica (F, G and P) exposed monkeys. The monkey lung reaction suggests that it may be a
631035.65
Chief, ETB
3
non-specific one, inasmuch as these materials (PVC and amorphous
silicas-F, C and P) show diverse chemical composition. The second
paragraph under "Comment" in the pathology report on monkeys ex
posed to amorphous silica-K also applies here. The influence of
the brown and black particles on the biologic effects of PVC are
hard to define but should be carefully considered. The only contri
bution of the inhaled PVC dust deposition and retention to pulmonary
tissue morphology was numerous aggregations of PVC-contalning
macrophages.
Choudari Kommineni, Ph.D., DVM
631035.66
MEMORANDUM
DEPARTMENT OH lll-'ALTII. EDUCATION. AND WHU'AUI
HUH It' lll-AI III M KVIt'P.
cr.Nii K iiik iiim am: minihoi NATIONAL INilllUlt' IIIK OTMU'AIMINAI. NAIT'I V ANII III AI1 II
: Chief, BSB THROUGH: Chief, Pathology Section
*PKOM
Veterinary Pathologist, Pathology Section
;UBJECT: Pathology Report on Guinea Pigs to PVC
Hale guinea pigs were exposed bysinhalation to polyvinyl chloride (PVC), respirable concentration 10 oig/m , for 6 hours/day for 5 days/week for a period of 12 months. The animals were sacrificed immediately after 12 months of exposure to PVC. The following tissues on each animal were saved at necropsy for hlstopathology evaluation: lungs, liver, heart, spleen, kidney, pancreas, adrenal, thyroid, testis, and urinary bladder. The hlstopathology evaluation was performed on a total of 75 (exposed 36; control 39) male guinea pigs.
2.1 Guinea pigs exposed to PVC 10 rep./m* for 6 hours/day for 5 days/
week by Inhalation.
Path. Accs, No.: 76-1432 to 76-1467.
Gross pathology: Yellow specks were Been in the lungs of 76-1434,
-1436, -1459, and -1464. Consolidation of lungs was observed in
76-J435, -1437, -1439, and -1449. Small areas of necrosis In the
liver of 76-1443 were seen. Hcscntcric fat necrosis was found in
76-1438 and 76-1441.
Histopathology:
Lungs;
All guinea pigs exhibited moderate amount of eosinophilic
serous exudate mixed with mild to moderate numbers of
epithelial cells (decidual showing varying stages of de
generation) in the bronchial lumenu. Another common find
ing among all guinea pigs was the presence of multiple
aggregates of lymphocytes. MohL of these lymphoid aggre
gates were oriented around or near small arteries or veins,
thus giving an appearance of lymphoid follicles. The
interstltium of all Che lungr. showed numerous macrophages.
These macrophages contained spherical to globular hollow
structures in the cytoplasm. These macrophages did not
aggregate in ths same fashion as those seen in rat lungs
(1.1). Plant material with or without associated inflam
mation was seen in bronchioles of 76-1432 and 76-1435.
Bone formation (small spicules) in alveolar area was seen
in 76-1434, -1435, -1438, -1446, -1452, -1453, -1455, and
-1456. Focal atelectasis was'seen in the lungs of all
guinea pigs examined.
631035.67
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2
Liver:
Mild fatty infiltration of hepatocytea was seen In 76-1432, -1441, and -1467. The histology slides from
76-1443 did not show any hepatic necrosis. Search
for liver tissue with necrotic areas from "wet tissue"
was not fruitful.
Heart:
Focal mild myocarditis was seen in 76-1441, while 76-1449 showed focal mineralization of myocardial
muscle bundles.
Spleen: Macrophages with yellow granular pigment in the cyto
plasm were seen in all guinea pigs.
Kidney: Multifocal mild mineralization of tubular epithelium
was seen in 76-1432, -1437 to -1448, -1450 to -1460,
-1462 to -1465, and -1467.
Pancreas: Fatty infiltration of the endocrine and exocrine ele ments was seen in 76-1439, -1442, -1444, -1447 to -1456,
-1458 and -1461. Fatty infiltration of only exocrine
elements and moderate hyperplasia of the endocrine
elements were seen in all guinea pigs excluding the ncs
given above. Adrenal: Yellow granular pigment in the cytoplasm of the cortical
epithelium was seen in all guinea pigs. Focal mild
mineralization of the cortical epithelium was 6oen in
76-1435 and 76-1455.
Urinary bladder: Mild focal hyperplasia of the transitional
epithelium was seen in 76-1444. Mineralization of sur
face epithelial cells was seen in 76-1452, -1453, and
-1462 to -1465.
2.2 Untreated Rulnea pigs
Path. Accs. No.: 76-1470 to 76-1508.
Cross pathology: Consolidation of lungs was seen in 76-1488, -1490,
-1506. Small necrotic foci were seen in the livers of 76-1486, -1488,
and -1491. A contracted kidney was seen in 76-1493. Necrotic fat
(mass) was found attached to mesentery of 76-1475 (3.57 gm), -1477
(3x2 cm), -1480 (4.5 x 2.5 cm), -1486 (1.0 x 2.0 cm), -1494 (1x2
cm), -1495, and -1496.
HlBtopatholor.y:
Lungs:
The presence nf eosinophilic fluid exudate with cellular
debris and the lymphoid aggregation in all guinea pigs
was the same as seen in 2.1. The interstitium of all the
lungs contained lesser number of macrophages than those
seen In 2.1. The cytoplasm of these macrophages was
granular and eosinophilic. Plant material with or without
inflammatory infiltrates was seen in 76-1488 and -1490.
Bone formation in the alveolar region was seen in -1474,
-1475, -1476, -1478, -1490. -1493, -1499, -1501, and -1506.
Focal consolidation of all lungs was seen.
631035.68
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3
Liver:
Fatty Infiltration (mild) of hcpntocytes was seen in
76-1472 and 76-1478. Moderate hyperplasia of bile
ducts was seen in 76-1474. A mycloliposarcona was
seen in the liver of 76-1470.
Spleen: Macrophages with yellow granular material in the cyto
plasm were seen in all guinea pigs.
Kidney: Multifocal mild to moderate mineralization of tubular
epithelium was seen in 76-1470, -1471, -1473 to -1483,
-1487 to -1506.
Pancreas: Fatty infiltration of exocrine and endocrine elements
was seen in 76-1470 to -1475, -1478, -1480, -1482,
-1486, -1488, -1490, -1492, -1494, -1495 to -1497,
-1501, -1502, -1503, and -1507. The pancreas from
the remaining guinea pigs showed fatty infiltration
of exocrine elements and hyperplasia of endocrine
elements.
Adrenal: Yellow granular pigment in the cytoplasm of the epi
thelium of the cortex of all guinea pigs was seen.
Urinary bladder: Mineralization of the surface epithelium was
seen in 76-1472, -1475, -1480, -1495, -1497, -1498,
and -1504. Subacute cystitis was seen in 76-1470 and
76-1494.
Mesenteric masses: 76-1473: Granuloma of mesenteric fat.
Entrapped pancreatic exocrine elements were present.
76-1475: Granuloma of mesenteric fat.
76-1477: Thrombosis of veins with degenerative fat.
76-1480: Thrombosis of veins and degenerating fat.
76-1486: Granuloma of mesenteric fat; polarising
yellow material seen.
76-1494: Degenerating fat.
76-1496: Cranuloma of mesenteric fat.
Comment: For comparison, this comment shall include rat and guinea pig data. Both the rats and the guinea pigs exposed to PVC by inhalation exhibited the presence of PVC particulates in the pulmonary macrophages, although the pattern of macrophage accumulation between the two species differed. There was no infloomatory or any other deleterious effect seen in the lungs of these animals that could be attributable to PVC inhalation.
The incidence of perivascular lymphoid aggregations in the lungs of guinea pigs was similar in both exposed and controls. The presence of bony spi cules in the lungs of exposed and control guinea pigs was observed. The pathogenesis of these two conditions is not known (Thompson, S. W., Hunt, R. D. ct al: Am. J. Path. 40:507-517 (1962); Kaufman, A. F.: Lab. Anii.i. Care 20:1002-1003 (1970)) and is worth exploring as NIOSH uses guinea pigs as one species of animals in biological experiments. The ncphrocalcinosis seen in the exposed and control guinea pigs may be related to diet (J. C. Woodard: Am. J. Path. 65:253-268 (19/1) and 65:269-278 (1971)). Corollary
631035.69
Chief, USB
4
to the above observation was the finding of invariable fatty infiltration of exocrine and endocrine elements of the pancreas in both the exposed and conLrol guinea pigs and the hyperplasia of islets of Langerhans seen in botli Lhc rats and the guinea pigs employed in this experiment. In addition, the vascular wall calcification in the pulmonary vessels of rats is disturbing. All of these "incidental" findings strongly suggest that these animals lvad metabolic problems probably related to the animal diet. The changes seen in the testes of rats were non-specific and probably not related to treatment. The Incidence of neoplasms in the adrenals of rats is within the normal range observed for Sprague-Dawley rats of this age.
631035.70
PLASTICS DIVISION
NOTE ON A TELEPHONE CONVtKSATION WITH DK UN JOWSON OF BF GOODRICH, 20 OCTOBER 1978
PVC DUST - NIOSH STUDIES
Dr Johnson 'phoned to soy he had now had a talk with Dr Trent L wis of NIOSH on the 3 mammal study. Dr Lewis emphasised that this was in no sense a carcinogenicity study. It was a study aimed at ascertaining
about pulmonary function and fibrosis. Dr Lewis was happy with the outcome of the work in that nothing happened and there was nothing to comment on the subject of pulmonary function and fibrosis. He thought the study was totally unsuited to gauge carcinogenecity.
In Dr Lewis's view an inhalation study of PVt dust on animals to demonstrat
carcinogenicity is a very difficult undertaking. He would be very
unwilling to tackle it unless there was something equivocal in the
epidemiology that needed to be resolved.
Even then he would advocate
expanding the epidemiology to get a more positive answer. If there is a
positive answer from the epidemiology no amount of animal work would mak
any difference and again he stressed that dust inhalation tests f r
carcinogenicity on animals are long, tedious, difficult and uncertain.
J Stafford Division Manager Health & Environment Protection
J5/MJE/DS0-107 23 October 1978
i cm- 'Alt1* t
Circulation
Dr W G F Adams Dr D P Duffield Dr G Pigott Dr B W Duck Dr M Sharratt Dr P Grosso Dr J T Carter Dr D W Piaster Dr G Paddle Dr K S Williamson Dr I F H Purchase Sir C Lawrence-Jones Dr F W Best Mr G J Sleddon Mr W Adams
Mr T L Phillips Mr B N P Hutchesson Mr H M Clayton Mr T W Moffitt Dr L de Boer Dr J G Kammuller Mr J C Thomas
Mr M Bonnefoy Dr T Garlanda
Dr M N J hnson Dr T R Torkels n Mr R N Wh eler (Jr)
JS (2)
631035.71
Dr R E Davies, ICI Australia Mr K H White, Duperial 5AIC