Document xzdQGYgDBZ6GL2ZJwLwLG4jOG
AOROCB-22
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY WASHINGTON, D C. 20460
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Georgine Adams 3M Corporate Product Responsibility
3M Center St. Paul, Minnesota 55144-1000
oefce of PREVENTION. PESTICIDES
AND TOXIC SUBSTANCES
Dear Ms. Adams:
On behalf of the EPA Office of Pollution Prevention and Toxics
(OPPT) , I am writing to you as a representative of one of the
fourteen "major facilities" identified in our "Risk Management
Level 2" (RM 2) assessment for 1,2-dichloroethane (also known as
ethylene dichloride, or EDC).
While they are not regulatory
reviews, RM 2 assessments are intended to provide a substantial
evaluation of risk and pollution prevention issues for existing
chemicals. RM 2 assessments can lead to a variety of outcomes,
such as initiation of rulemaking, referrals to other offices,
enforcement initiatives, industry agreements, or proposals for
testing. A copy of the assessment is attached.
EDC, which is included in the Toxic Release Inventory (TRI), has been identified by EPA as a B2 "Probable Human Carcinogen". Our assessment looked at EDC release trends over several years of TRI data, and found that a small number of facilities were responsible for most of the nationwide releases and transfers of EDC. Releases for several facilities were on the increase through 1990. A preliminary look at the risks that might be associated with continuation of these releases indicated concern for potential risks to communities surrounding the following four facilities:
Ferro (Keil Division) Corporation, Hammond, Indiana 3M Corporation, Charlestown, West Virginia National starch and Chemical, Salisbury, North Carolina PPG Industries, Westlake, Louisiana
Follow-up analyses using the new TRI pollution prevention data
for 1991 lessened our concerns. All four facilities reported that
releases were now on the decline, and projected further reductions
in the years ahead. The 3M facility reported elimination of all
EDC releases, and this was confirmed with the state of West
Virginia.
The Ferro facility is a special case, as information
obtained by Region 5 indicates that the reductions in releases
claimed by the company have not occurred. Region 5 will be taking
the lead for EPA in further follow-up with this facility. We will
continue to coordinate with the EPA regions to track future
environmental trends TRI for the two remaining facilities plus ten
others.
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This case j^ised interesting questions about product
stewardship and CTie responsibilities of producers and their
customers for ensuring th safe use of ch micals. The RM 2 case
began with a "letter of concern" and among the responses was one
from Dow reporting that they had 'turned down 5 potential EDO
customers based on concerns for their proposed uses and/or us
conditions. Did the five customers turn to another chemical, or
did they purchase the EDC from a less demanding supplier, or did
all suppliers turn them down?
This, it turned out, was an
important issue for this case, because it was the EDC "customers",
rather than the producers, that were linked with most of the
releases nationwide. Even though the "miscellaneous use" sector
used only a relatively small amount of EDC, they dominated the TRI
release statistics.
The EDC suppliers, despite an enormous
throughput, generally had EDC releases under control and on the
decrease according to their TRI reports.
This case indicates that EDC manufacturers possess
considerable pollution prevention expertise for reducing releases
and transfers of this chemical, and that there is a need to shar
this expertise with their customers. It also shows that TRI might
be used as a tool to link up suppliers with their customers that
need help with releases.
As the foundations for product
stewardship programs are put into place, the use of TRI by
suppliers to target outreach and technical assistance, or to scr en
potential customers, deserves additional consideration. OPPT will
send a copy of this letter and the RM 2 report to EDC manufacturers
as well. We encourage you to work with your supplier.
In summary, OPPT encourages EDC manufacturers and users to work together to further reduce releases of EDC. We hope that OPPT information tools can help in this process. Because we do not anticipate further national office initiatives for EDC beyond coordination with EPA regional offices, we do not propose to hold a stakeholders' session for this case. However, should there be questions or the need for a meeting, please contact EDC project manager Matt Gillen at 202-260-1801.
Sincerely,
attachment cc: Mark Greenwood
Joe Carra Bob McNally
Charles M. Auer, Director Chemical Control Division EPA Office of Pollution Prevention and Toxics
Matt Gillen Hank Topper James Burke, Region 3
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