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Friday, April 29, 2011

EPA Region 2 Coordinator Discusses the RRP Rule

Environmental journalism supports the protecti...Image via WikipediaOn Friday, April 1, 2011, the Environmental Protection Agency’s (EPA) Region 2 Renovation, Repair , and Painting (RRP) Rule Coordinator Ms. Jeanette Dadusc was discussing the requirements and background of the rule. The topics covered included: introduction to the problem of childhood lead poisoning; Federal government’s response to childhood lead poisoning; how the RRP Rule was developed; the regulated universe of RRP facilities and activities; certification requirements for training providers, individuals, and firms; notification and work practice requirements; cleaning verification card; proposed rule changes; RRP frequent questions; and RRP enforcement strategy.

Her presentation was wide ranging, covered the full time of the presentation, and the handouts supplemented her presentation and were useful. Visit our website at http://futureenvironmentdesigns.com/news.html to find a copy of her handouts.  Some of the points regarding the childhood lead problem were:
  • Lead based paint is the number one environmental health threat to children
  • Children absorb 50% of the lead they ingest compared to adults, which absorb only 10%.
  • According to the Centers for Disease Control (CDC), there is no known safe level of lead in blood.
  • Discussions are ongoing regarding dropping the standard of lead blood level to 5 micrograms per deciliter (ug/dl) versus the current 10 ug/dl.
  • Lead bioaccumulates in the body because it mimics calcium
  • Children, who live in homes where renovation & remodeling activities were performed within the past year, are 30% more likely to have a blood lead level that equals or exceeds 10 ug/dl.
Some of the points regarding regulated universe of RRP facilities and activities were:
  • Target housing is defined as housing constructed prior to 1978.  There are only 2 exceptions housing for the elderly or for person with disabilities (unless one or more children under 6 years old resides or is expected to reside in such housing), and 0-bedroom dwellings. Meaning hotels, motels, timeshares, and student housing is not exempt.
  • Child Occupied Facility (COF) is defined as a building or portion of a building built prior to 1978 that is visited by the same child under age six for at least 3 hours per day, or at least 6 hours per week, or at least 60 hours per year. This includes common areas routinely used by the children under age 6 (i.e, restrooms, cafeterias), and adjacent exterior areas.
Other major points she covered were:
  • Delead test kit added to the list of EPA approved test kits. The test kits must be used according to the manufacturer’s directions including materials that the test kits cannot be used on.
  • Lead Based Paint Abatement Contractors require RRP Renovator Certification. Previous certification as a worker/supervisor allows the person to take the ½ day refresher class to become a renovator.
  • Lead Waste – residential (homeowners & contractors) can dispose of lead waste bags with household waste. COFs must follow the hazardous waste regulations.
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Thursday, April 28, 2011

Inexpensively Handling IAQ Problems in Schools

An excellant article "Little Things Can Fix a Big Problem on National Healthy Schools Day" written by Claire Barnett, Founder and Executive Director, Healthy Schools Network, Inc., for the Huffpost Heath.  Describes what teachers, parents, and facility directors can do, inexpensively, to help improve indoor air quality and help students stay in school.  I would add that teachers, staff, and students should avoid using perfumes and colognes in school or any strong smelling deodorants.  In addition, teachers and staff should not bring home cleaning supplies to clean their rooms, request from the facility director or the custodians cleaning supplies that are used by the school.  Many times I have inspected facilities where the facility has gone to green supplies, only to inspect a classroom to find cleaning supplies not used by the facility (ie, windex, pledge, etc.).  It doesn't help being green, if teachers/staff are using non-green cleaning products that they brought from home. 
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Tuesday, April 26, 2011

Controversy Regarding Brodeur's Asbestos Research Information at The New York Public Library.

The Main Branch building of the New York Publi...Image via WikipediaMy first full-time job was working with Hygienetics which at the time was located in Jersey City, New Jersey.  My boss and my mentor was Mr. Eugene Pinzer, CIH.  Mr. Pinzer was a great boss and did an excellant job mentoring me (as far as I am concerned).  At times he would train by hands-on practices, other times he would ask me to read some article or book that would help with my education and help me gain valuable experience and knowledge.  When I read the Felix Salmon's blog post "The case of Paul Brodeur vs the NYPL" and then Paul Brodeur's, a staff writer for The New Yorker for nearly 40 years, article for The Author's Guild titled "Paul Brodeur: A Breach of Trust at The New York Public Library" it brought back the some great memories.  One of the articles Mr. Pinzer requested that I read was Mr. Brodeur's article "Annals of Law - The Asbestos Industry on Trial".  This four part article written for The New Yorker Magazine ran from June 10 - July 1, 1985.  At the time I was, are you kidding me.  The articles were the equivalent of a 300-400 page book and I really didn't see the importance.  However, as Mr. Pinzer was apt to do he cajoled me into reading it.  The articles are well written and documents the asbestos industry's fall from grace.  I strongly suggest that if you are in the asbestos industry you read these articles.  It details the downfall of the industry, including how the information that exposed the industry of hiding the dangers of asbestos.
As the title indicates the New York Public Library has notified Mr. Brodeur that they intend on breaking up his collection of papers that he donated to the library.  Included in this collection of papers is Mr. Paul Brodeur's investigation of the asbestos health hazard and its cover-up by the asbestos industry.  Though I am not a curator or librarian, it seems to be a waste of the research that Mr. Brodeur did to back-up the facts, assertions, and evidence he writes about in his articles.  I hope the New York Public Library reconsiders their decision or at least allow the collection to remain together by returning the full documents to Mr. Brodeur.
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Tuesday, April 19, 2011

Quebec Government Decides to Back Loan to Restart Asbestos Mine

Asbestos (chrysotile)Image via WikipediaQuebec government announced that it was providing conditional support of the reopening of the Jeffrey Mine Inc in the town of Asbestos through a $58 million loan guaranteeEconomic development minister Clément Gignac also suggested that chrysotile asbestos from that mine could help save lives in India.  Gignac said, the relaunched mine would create 425 full-time jobs in the region plus provide millions of dollars in taxes and royalties to Quebec which in turn will create a $7.5 million economic diversification fund for the region.
To justify the decision, Gignac told reporters that millions of people in India die of cholera every year because they lack access to potable water and proper sanitary infrastructure.  "Excuse me, but the fact is that chrysotile asbestos cement can be used to make many more kilometres of infrastructure because it is less expensive and is a durable material and we can improve the quality of life of citizens in India," he said.

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Thursday, April 14, 2011

NIOSH Study Designates Bisphenol A as a Skin Sensitizer


Chemical structure of bisphenol A.
Image via Wikipedia

On April 12, 2011, the National Institute of Occupational Safety and Health (NIOSH) published a skin notation profile for Bisphenol A (BPA).  This profile found enough evidence to classify BPA as causing skin sensitization.  Sensitization is a specific immune-mediated response (responses mediated by the immune system, including allergic responses) that develops following exposure to a chemical, which, upon re-exposure, can lead to allergic contact dermatitis (ACD) or other immune-mediated diseases such as asthma, depending on the site and route of re-exposure.  BPA is a high-production-volume (HPV) chemical used in the manufacturing of epoxy resins, plastics, and flame retardants.  NIOSH evaluated several case reports and predictive animal studies that indicated BPA as being a skin sensitizer and can cause photoallergy.  Hence, NIOSH has assigned a SK:SEN notation (skin:sensitizer) for BPA.  With BPA used as a flame retardant avoiding coming into skin contact with it could be very difficult. 
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Wednesday, April 13, 2011

Inspectors Discover Asbestos at East Hampton Middle School

Mold behind sheet rock (asbestos joint compound?).
Interesting article "Inspectors Discover Asbestos at East Hampton Middle School" regarding asbestos and mold in the East Hampton Patch.  Kind of interesting how this ties into my last post regarding avoiding tunnel vision.  The original focus of the inspection was mold and Ms. Barbara Eisenberg, the inspector for the New York State Department of Labor, instead found asbestos containing debris.  This is another perfect example of making sure all issues are addressed not just the mold concern but realizing the mold may be growing on the asbestos containing material and the asbestos needs to be addressed, too.  Since asbestos is regulated in New York State and mold is not (yet?), the asbestos will take priority in the way the work will be handled. 
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Tuesday, April 12, 2011

Asbestos Article in Indoor Environment Discusses Cross Issues with Radon

In the March 2011 issue of Indoor Environment Connections, Douglas Kladder the Director of the Center for Environmental Research & Training in Colorado Springs, Colorado wrote an excellant article regarding asbestos.  Being on the asbestos side of the fence, it is interesting how sometimes we get tunnel vision in dealing with indoor air quality/environmental issues.  Mr. Kladder article "Asbestos? What Asbestos? I'm a Radon Guy!" discusses the dangers of tunnel vision.  Mr. Kladder discusses that their are few activities involved in radon mitigation that would not impact asbestos containing materials.  He then provides several war stories of issues related to this topic.  In many ways the same statement can be made to those of us in the asbestos field.  We tend to get tunnel vision regarding asbestos and forget that lead, polychlorinated biphenyls (PCBs) or, even for that matter, radon may also be a concern.  For example, lead paint could be on asbestos siding or asbestos spackles/joint compounds, and window caulk, in addition to containing asbestos, may also contain lead and/or PCBs.  It is important for indoor air quality/environmental professional to keep abreast of the field and to consider the potential possibilities of various environmental hazards being present.  
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Conference Season Starts in 3 Months Save the Date: PACNY 2025 Environmental Conference & EIA 2025 National Conference

With the end of 2024 fast approaching, we are looking ahead to 2025, we are excited to announce the dates for the Professional Abatement Con...