Document wqYm31MaJ4X32oeanB9Ry78dE
j c: OCT 1 1971
| v, .
9/30/71
i C. P. Cunningham
! V. R. Corey ' : John Mason
: H. S, Bergen ; W. B. Papageorge
; P. S. Park . E. P. Wheeler
P. J. A. Marsh - Brussels
Attached are the "hand-outs" from the FDA press conference
on Sept. 29 as sent in by Sam Pickard.
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EXHIBIT
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STATEMENT BY CHARLES C. EDWARDS, M.D.
. PCB PRESS BRIEFING SEPTEMBER 29, 1971
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We have called this briefing to try to help establish perspective
on PCB's, the extent of their presence in the food supply, the implication
this has for human health and what the government is doing to define and
control the problem generally.
There is today considerable public and some obvious press confusion.
Some of this confusion is due to the intense complexity of the PCB issue
and to deficient knowledge about the substances in terms of effect on
human health,
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The confusion is compounded by a few alarmists seeking headlines.
Their efforts have in some few cases been aided and abetted by unbalanced
reporting.
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Public confusion has created public alarm and a feeling of Still
another crises in the food supply.
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I know the confusion is unnecessary and I believe the alarm is greater
than the facts will Justify.
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And this is the reason we have asked you here -- to try to give you
the facts that we have, to share with you the Holts of our knowledge,
to tell you what we are doing with the information we have, what we are
doing to get more information and, finally,, to answer any questions you
may have.
The PCB problem is one which cannot be easily defined. This family
of industrial chemicals has been used in countless useful and beneficial
ways for more than 40 years. Nevertheless, they have no place in the food
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upply. FDA, other agencies of government, and Industry Itself have been -
looking at FCB's since at-least 1966 to try to keep the chemical out of '
foods and to try to assess what if anything It means if it should be found
In food.
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We still have as many questions as answers but we do have some answers.
We do know that as a toxic substance PCB's are a potential but not Immediate heaLth
hazard. We do know that its background level in the environment is not
high. But we do not know how long terra exposure to PCB might effect human
health and we cannot yet explain the inconsistent presence of the chemicals
in certain areas of the environment.
We do know there are certain strong reasons for continued use of
these chemicals. For example they have important flame resistant properties and
properly used, directly assist government and industry in protecting the
consumer against fire. We do not know if a requirement for substitute
chemicals in some cases might not prove more of a health threat than PCB's.
In recent months we have been faced with PCB adulteration of foods
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from an Industrial accident in North Carolina, from recycled paper packaging
and from untraceable environmental causes,
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Given the length and variety of uses and given the present Intensity
of the present search we can be confident that other problems will be found
and reported in the weeks and months ahead.
But the overall problem is not new to FDA or to government, FDA developed
the technology to Identify and measure PCB content in foods and other
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substances. The Agency at least three years- ago established a 5 ppm guide*
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line for PCB In fish. The Agency has consistently backstopped USDA in
dealing with the problem whenever It occurred in the poultry industry,
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The PCB issue, like NIA and mercury for example, points up the need
for Congressional passage of.the Administration's Toxic Substances Control
Bill. The ultimate solution to the PCB problem, lies, at least in part, in
restricting uses to those places where the substances can be safely bad beneficially employed. Good progress is being made toward this goal^
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But the Toxic Substances Control Bill would clarify and strengthen our
authority in this area. Furthermore, it seems clear we wilt have more
PCB "incidents" until a system for pre-testing of such chemicals is established.
The Toxic Substances Bill would establish such a system. In fact, the
Council on Environmental Quality, in its report of last April entitled
"Toxic Substances" used PCB's as one of the examples of substances which
the proposed legislation is designed to`control.
On another tack I want to remind you that the FDA in full recognition
of the fact .that the problem of PCB's is broader than any single agency of government recently took tho lead in calling together six major Agencies of the i
Federal Government. The result was establishment September 1, 1971 of an
Inter-Departmental Task Force to coordinate government activities, to
facilitate the exchange of Information and to do all else possible to bring
government resources to bear in defining and dealing with the problem as
needed.
I urge your additional attention to the joint press release issued on
September 5 about this Task Force, Copies are available.
In a moment I went to ask Deputy FDA Commissioner Grant to give specific
citations of actions that FDA and others have taken to meet and reduce
health dangers or unwanted adulterations from PCB'Si
Before I do, however, I want to make three further and very brief
points:
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1, Vie are taking specific, adequate and positive steps to deal
vlthvhatever problem or potential problem that PCB's are likely to
pose to human health.
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2, We reject the need and in fact the feasibility as some have
proposed for an outright ban on the substances. Although the use of
FOB'S requires control, an outright ban is not feasible and would not
be in the best interest of the consumer.
3, We further reject the idea that crisis headlines and demands
for national health alerts are justified or needed to meet the situation
as we know it today. Science does not support such actions and we in
FDA will continue to abide by the dictates of science in making regulatory
judgments in behalf of the American consumer.
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Thank You---
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September 29, 1971 PCB ACTION SUMMARY
To sumrarlze this chronology, I offer the following: 1. Based on the levels of PCBs we have found In our scientific evaluation of the health hazard, except for accident*type situations, we do not have,an Imminent health hazard problem, but PCBs are a potential hazard.
2. We are taking steps to cut off further introduction of PCBs into the food supply and to reduce the current low levels of PCBs as a food contaminant. We want to remove all PCBs from food from environmental or any other sources, By doing this we will eliminate the potential problem.
3. We need more scientific Information on PCBs. The
Government Is working on this need.
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.4. We need more Information on the extent of PCBs as an environmental contaminant and the extent of PCBs In the
food supply. We are collecting suck. Information.
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5. PCBs serve many beneficial purposes,
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6. We have been monitoring the food supply for PCBs for . some time and have developed reliable procedures for doing so.
7. We have acted specifically where action was warranted, and we have taken steps to deal with the long-range problem.
8. FDA developed a scientific analytical methodology to enable PCBs to befound In containers as well as food.
.9. We have takensteps In concert with other agencies to
protect the p.tj)t>lic.
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10. .Except for Isolated Incidents involving fish, almost all of the high levels of PCBs found have been associated with accidents, which we are working to prevent. We have set appropriate guidelines for regulatory and control actions.
11. We have stepped up our surveillance of the food supply to detect PCBs within our limited resources.
12. We have a coordinated government effort through an inter
agency task force under the direction o'f'the Office of Science
and Technology and the Council on.Environmental*Quality to
deal with the problem.
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13. We are bringing together the best scientists and data in the country to deal with the problem,
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3 14, We have met with the Industries Involved to deal with the problem. The following actions have been taken:
a. The Monsanto Chemical Co., the primary domestic supplier of PC8$, Is only selling the compounds now for transformer, capacitor and non-food heat exchange uses.
b. PCBs are not now being used In the National Cash
Register Company's carbon paper, but there are large
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quantities^ office files throughout the country. >
c. The NCR carbonless carbon paper is not now being used in recycled paper Intended for food packaging.
d. Over and above FDA's Increased surveillance, the food
Industry is now surveying its own plants and its products
to be certain the PCBs are not being used. The food
Industry has been alerted to the need to avoid paper
containers with PCBs. . uua* ***
15, . In summary,APCBs are not an Imminent hazard and the Government with fuli_cooperatioh from the private sector Is
taking steps to eliminate the potential hazard.
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TOWOLDMONOOO: WATER
I * " FOOD AND DRUG ADMINISTRATION September 29, 1971
1966 1967
Feb. 24, 1969 March 7, 1969
March 10-14, 1969
June & July 1969
July 1, 1969
Sept. 13, 1969
Soren Jensen reported PCB In Swedish fish and wildlife.
G. Widmarck published "IUPAC Commission of Methods of Pesticides Analysis; Possible Interference by Chlori nated Biphenyls. *'
This article began FDA methods development program to separate polychlorinated biphenyls from chlorinated pesticides encountered in regulatory analysis.
Dr. Robert VI. Risebrough widely quoted from San Fran cisco Chronicle Story warning of PCB in eco-systera.
Associate Commissioner for -Science and Deputy Associate Commissioner for Compliance asked Bureau of Science to evaluate foods sampled for pesticides for evidence of PCB. Hone was indicated except in some fish from the great lakes.
District pesticide experts were given all of the analytical
information concerning PCB and told to be aware of the
possibility of its presence in foods. (Pesticide Analy
tical Workshop 3-10/14-69.
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PCB was identified as a contaminant of many fish analyzed as part of Injunctive proceedings against the City Smoke
Fish Co. of Detroit, Michigan. These fish also contained DDT above 5 parts/mi11ion.
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The firm wa3 enjoined by U. S. District Court.
Eleven page Bulletin was Issued to all field districts regarding PCB in fish and outlining instruction how to separate PCB from chlorinated pesticides. Information on any results of apparent PCB findings or unidentified
organohalogen residues was to be reported.
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Baltimore District Office reported PCB in West Virginia
Milk. This series of samples was traced to use of Aroclor Oil as solvent for pesticide spray. Grade A Bilk shippers involved were taken off production by the State.
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Dec. 16, 1969 Jan. 6, 1970 Feb. 3, 1970 Mar. 24, 1970
Aug. 7, 1970 Nov. 10, 1970 Jan. 29, 1970
July 16, 1971 Aug. 1971 Aug. 9, 1971 Aug. 11, 1971
Regulatory Action at 0.2 ppm (whole milk basis) waa
established. *
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PCB analysis Included In Total Diet Study.
Regulatory Action at 5 ppm in edible flesh of fish established.
State of Ohio advised FDA they had a problem in milk resulting from Arochlor containing silo sealant. State Was told FDA would initiate Federal seizure nt 0.2 ppm
(whole milk). State handled the problem and `dumped an unknown quantity of milk.
Fish near effluent Annison Plant Monsanto found to contain PCB, Results were repotted to State (these were recreational fish).
Formal program for PCB In raw agricultural commodites issued. To date 15,000 samples analyzed with 279 "random" PCB results reported.
New York State Poultry. Feed ration contained ground
bread cartons and wrappers. PCB in feed may have otginated
from this source but is not confirmed at this time.
Investigation continuing.
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Action level 5 ppm PCB In poultry established.
Leakage of heat exchange of fluid caused contamination of (
pasteurized fish meal which in turn waa fed as a ration
to chickens and catfish.
Action level 0.5 ppm established for eggs. 5 ppm reaffirmed for poultry.
PCB reported in turkeys in Minnesota. FDA investigation could not determine that feed or its constituents was cause. Investigation continuing.
Seizure recommendation 75,000 eggs Norfolk, Va. (follow up Wilmington Terminal). Crain and cereal composite of total diet study found to contain PCS at 0.4 parts/
level. Packaging fov shredded wheat component
was source of the contamination. Packaging Survey Initiated by home district CIN-DO. Highest level 433 ppm found in greybeard.
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Aug. 12, 1971
Cargill Inc,, Pensacola, Fla. Heat exchange leak of Therttinal 55.- Not PCB related. 1.6 ppm PCB may be
enviommentally in fish meal. Investigation continuing.
Aug. 23, 1971
National Bi-Products, Mason City, 111. Meat scrap meal may have been contaminated at 1 ppm level. Material was recalled.
Sep. 1, 1971 Sep. 3, 1971
Meeting of Interagency Group with Commissioner to become familiar with and organize to solve many of environmental problems associated with Aroclors.
Coirference with American Paper Institute to find out what information they could give about recycling. It was reported NCR had discontinued PCB in copy paper as of June 1, 1971.
Sep. 8, 1971
Meeting with Monsanto Chemical Company. - Company told FDA PCB would be limited to essential closed system uses with no use in food or feed plants.
Sep. 14, 1971 Meeting with Food Manufacturers to inform them of PCB ..risks in greyboard packaging.
Sep, 14, 1971
Compliance Program issued to Regional and Field Offices to survey 13 food commodity categories for PCB.
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