Announcement of Preliminary Regulatory Determinations for Contaminants on the Third Drinking Water Contaminant Candidate List, 62715-62750 [2014-24582]
Download as PDF
Vol. 79
Monday,
No. 202
October 20, 2014
Part II
Environmental Protection Agency
tkelley on DSK3SPTVN1PROD with PROPOSALS2
40 CFR Part 141
Announcement of Preliminary Regulatory Determinations for Contaminants
on the Third Drinking Water Contaminant Candidate List; Proposed Rule
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
PO 00000
Frm 00001
Fmt 4717
Sfmt 4717
E:\FR\FM\20OCP2.SGM
20OCP2
62716
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
ENVIRONMENTAL PROTECTION
AGENCY
40 CFR Part 141
[EPA–HQ–OW–2012–0155; FRL–9917–87–
OW]
Announcement of Preliminary
Regulatory Determinations for
Contaminants on the Third Drinking
Water Contaminant Candidate List
Environmental Protection
Agency (EPA).
ACTION: Request for public comment.
AGENCY:
The Safe Drinking Water Act
(SDWA), as amended in 1996, requires
the Environmental Protection Agency
(EPA) to make regulatory
determinations every five years on at
least five unregulated contaminants. A
regulatory determination is a decision
about whether or not to begin the
process to propose and promulgate a
national primary drinking water
regulation (NPDWR) for an unregulated
contaminant. These unregulated
contaminants are chosen from the
Contaminant Candidate List (CCL),
which SDWA requires the agency to
publish every five years. EPA published
the third CCL (CCL 3) in the Federal
Register on October 8, 2009. This notice
presents the preliminary regulatory
determinations and supporting rationale
for 5 of the 116 contaminants listed on
CCL 3. The agency is making
preliminary determinations to regulate
one contaminant (i.e., strontium) and to
not regulate four contaminants (i.e., 1,3dinitrobenzene, dimethoate, terbufos
and terbufos sulfone). EPA seeks
comment on these preliminary
determinations.
SUMMARY:
Comments must be received on
or before December 19, 2014, 60 days
after publication in the Federal
Register.
DATES:
Submit your comments,
identified by Docket ID No. EPA–HQ–
OW–2012–0155, by one of the following
methods:
• www.regulations.gov: Follow the
online instructions for submitting
comments.
• Mail: Water Docket, Environmental
Protection Agency, Mailcode: [28221T],
1200 Pennsylvania Ave. NW.,
Washington, DC 20460.
• Hand Delivery: EPA Docket Center,
[EPA/DC] EPA West, Room 3334, 1301
Constitution Ave. NW., Washington,
DC. Such deliveries are only accepted
during the Docket’s normal hours of
operation, and special arrangements
should be made for deliveries of boxed
information.
tkelley on DSK3SPTVN1PROD with PROPOSALS2
ADDRESSES:
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
Instructions: Direct your comments to
Docket ID No. EPA–HQ–OW–2012–
0155. EPA’s policy is that all comments
received will be included in the public
docket without change and may be
made available online at
www.regulations.gov, including any
personal information provided, unless
the comment includes information
claimed to be Confidential Business
Information (CBI) or other information
whose disclosure is restricted by statute.
Do not submit information that you
consider to be CBI or otherwise
protected through www.regulations.gov.
The www.regulations.gov Web site is an
‘‘anonymous access’’ system, which
means EPA will not know your identity
or contact information unless you
provide it in the body of your comment.
If you send an email comment directly
to EPA without going through
www.regulations.gov your email address
will be automatically captured and
included as part of the comment that is
placed in the public docket and made
available on the Internet. If you submit
an electronic comment, EPA
recommends that you include your
name and other contact information in
the body of your comment and with any
disk or CD–ROM you submit. If EPA
cannot read your comment due to
technical difficulties and cannot contact
you for clarification, EPA may not be
able to consider your comment.
Electronic files should avoid the use of
special characters, any form of
encryption, and be free of any defects or
viruses. For additional information
about EPA’s public docket visit the EPA
Docket Center homepage at https://
www.epa.gov/epahome/dockets.htm.
For additional instructions on
submitting comments, go to Section I.B
of the SUPPLEMENTARY INFORMATION
section of this document.
Docket: All documents in the docket
are listed in the www.regulations.gov
index. Although listed in the index,
some information is not publicly
available, e.g., CBI or other information
whose disclosure is restricted by statute.
Certain other material, such as
copyrighted material, will be publicly
available only in hard copy. Publicly
available docket materials are available
either electronically in
www.regulations.gov or in hard copy at
the Water Docket, EPA/DC, EPA West,
Room 3334, 1301 Constitution Ave.
NW., Washington, DC. The Public
Reading Room is open from 8:30 a.m. to
4:30 p.m., Monday through Friday,
excluding legal holidays. The telephone
number for the Public Reading Room is
(202) 566–1744, and the telephone
PO 00000
Frm 00002
Fmt 4701
Sfmt 4702
number for the Water Docket is (202)
566–2426.
FOR FURTHER INFORMATION CONTACT:
Zeno Bain, Standards and Risk
Management Division, Office of Ground
Water and Drinking Water, Office of
Water (Mailcode 4607M),
Environmental Protection Agency, 1200
Pennsylvania Ave. NW., Washington,
DC 20460; telephone number: (202)
564–5970; email address: bain.zeno@
epa.gov. For general information,
contact the Safe Drinking Water Hotline,
telephone number: (800) 426–4791. The
Safe Drinking Water Hotline is open
Monday through Friday, excluding legal
holidays, from 10 a.m. to 4 p.m. Eastern
time.
SUPPLEMENTARY INFORMATION:
I. General Information
A. Does this action apply to me?
Neither these preliminary regulatory
determinations nor the final regulatory
determinations, when published,
impose any requirements on anyone.
Instead, this action notifies interested
parties of EPA’s preliminary regulatory
determinations for five unregulated
contaminants for comment.
B. Tips for Preparing Your Comments
When submitting comments,
remember to:
• Identify the rulemaking by docket
number and other identifying
information (subject heading, Federal
Register date and page number).
• Explain why you agree or disagree
and suggest alternatives.
• Describe any assumptions and
provide any technical information and/
or data that you used.
• Provide specific examples to
illustrate your concerns, and suggest
alternatives.
• Explain your views as clearly as
possible.
• Make sure to submit your
comments by the comment period
deadline identified.
ABBREVIATIONS USED IN THIS
DOCUMENT
Abbreviation
Meaning
μg/L .................
ADAF ..............
Micrograms per liter.
Age Dependent Adjustment
Factor.
Assessment Monitoring.
Association of Metropolitan
Water Agencies.
Agency For Toxic Substances And Disease
Registry.
American Water Works Association.
Best Available Technologies.
AM ..................
AMWA .............
ATSDR ............
AWWA ............
BATs ...............
E:\FR\FM\20OCP2.SGM
20OCP2
62717
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
ABBREVIATIONS USED IN THIS
DOCUMENT—Continued
ABBREVIATIONS USED IN THIS
DOCUMENT—Continued
ABBREVIATIONS USED IN THIS
DOCUMENT—Continued
Abbreviation
Meaning
Abbreviation
Meaning
Abbreviation
Meaning
BMD ................
BMDL ..............
Benchmark Dose.
Benchmark Dose (95%
Lower Confidence
Bound).
Body Weight.
Cancer Assessment Peer
Review Committee.
Chemical Abstracts Service.
Chemical Abstract Service
Registry Number.
Confidential Business Information.
Contaminant Candidate List.
First Contaminant Candidate List.
Second Contaminant Candidate List.
Third Contaminant Candidate List.
Consumer Confidence Report.
Code of Federal Regulations.
Cholinesterase.
Chemical Monitoring Reform.
Cancer Slope Factor.
Chemical Update System/
Inventory Update Rule.
Carcinogenic Volatile Organic Compounds.
Concentration in Water.
Community Water System.
Community Water System
Survey.
Disinfection Byproduct.
Disinfection Byproduct Information Collection Rule.
1,1-Dichloro-2,2-bis(pchlorophenyl)ethylene.
Distribution System Maximum Residence Time.
Drinking Water Intake.
Drinking Water Strategy.
European Food Safety Authority.
Electrolytic Conductivity Detection.
Environmental Protection
Agency.
Emergency Planning And
Community Right-ToKnow Act.
S-Ethyl
propylthiocarbamate.
Entry Point to the Distribution System.
Ethanesulfonic Acid.
Environmental Working
Group.
Fraction of a 70 year lifetime applicable to the age
period.
Food Frequency Questionnaire.
Federal Insecticide, Fungicide, And Rodenticide
Act.
Federal Register.
Granular Activated Carbon.
GAO ................
Government Accountability
Office.
Gas Chromatography.
Ground Water.
Health Advisory.
Health Reference Level.
Information Collection Rule.
Inorganic Compound.
Interim Eligibility Decisions.
Integrated Risk Information
System.
Kilogram.
Lowest Observed Adverse
Effect Level.
Maximum Contaminant
Level Goal.
Method Detection Limit.
Milligrams per liter.
Milligrams per kilogram per
day.
Microbial Disinfection Byproduct.
Mode of Action.
Minimum Reporting Limit.
Mass Spectrometry.
Methyl Tertiary Butyl Ether.
National Academy of
Sciences.
National Water Quality Assessment.
National Center for Food
and Agricultural Policy.
National Cancer Institute.
National Drinking Water
Contaminant Occurrence
Database.
N-Nitroso-di-n-butylamine.
N-Nitrosodiethylamine.
N-Nitrosodimethylamine.
N-Nitroso-di-n-propylamine.
N-Nitrosodiphenylamine.
National Drinking Water Advisory Council.
National Inorganics And
Radionuclides Survey.
N-Nitrosomethylethylamine.
No Observed Adverse Effect Level.
National Pollutant Discharge
Elimination System.
National Primary Drinking
Water Regulation.
N-Nitrosopyrrolidine.
National Research Council.
National Reconnaissance of
Emerging Contaminants.
National Toxicology Program.
Oxanilic Acid.
Office of Pesticides Program.
Office of Water.
Preliminary Contaminant
Candidate List.
Tetrachloroethylene.
Pesticide Data Program.
Perfluorooctanoic Acid.
Perfluorooctanesulfonic
Acid.
Provisional Health Advisory.
Photoionization Detection.
PMP ................
Pesticide Monitoring Program.
Public Water System.
Quality Assurance.
Regulatory Determinations
1.
Regulatory Determinations
2.
Regulatory Determinations
3.
Reregistration Eligibility Decision.
Reference Dose.
Reporting Limit.
Relative Source Contribution.
Scientific Advisory Panel.
Safe Drinking Water Act.
U.S. Senate Committee on
Environment and Public
Works.
Screening Survey.
Small System Compliance
Technologies.
Storage And Retrieval
(STORET) Data System.
Surface Water.
Six Year Review.
Six Year Review 3.
Trichloroethylene.
Triphenyltin Hydroxide.
Tolerance Reassessment
Progress And Risk Management Decision.
Toxic Release Inventory.
Treatment Technique.
Unregulated Contaminant
Monitoring.
First Unregulated Contaminant Monitoring Regulation.
Second Unregulated Contaminant Monitoring Regulation.
Third Unregulated Contaminant Monitoring Regulation.
Uncertainty Factor.
United States Department of
Agriculture.
United States Geological
Survey.
Volatile Organic Compound.
World Health Organization.
BW ..................
CARC ..............
CAS ................
CASRN ...........
CBI ..................
CCL .................
CCL 1 .............
CCL 2 .............
CCL 3 .............
CCR ................
CFR ................
ChE .................
CMR ................
CSF .................
CUSIUR ..........
cVOC ..............
CW ..................
CWS ...............
CWSS .............
DBP ................
DBP ICR .........
DDE ................
DSMRT ...........
DWI .................
DWS ...............
EFSA ..............
ELCD ..............
EPA .................
EPCRA ...........
EPTC ..............
EPTDS ............
tkelley on DSK3SPTVN1PROD with PROPOSALS2
ESA .................
EWG ...............
F ......................
FFQ .................
FIFRA .............
FR ...................
GAC ................
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
GC ..................
GW ..................
HA ...................
HRL .................
ICR ..................
IOC .................
IREDs .............
IRIS .................
Kg ...................
LOAEL ............
MCLG .............
MDL ................
mg/L ................
mg/kg/day .......
MDBP .............
MOA ................
MRL ................
MS ..................
MTBE ..............
NAS ................
NAWQA ..........
NCFAP ............
NCI ..................
NCOD .............
NDBA ..............
NDEA ..............
NDMA .............
NDPA ..............
NDPhA ............
NDWAC ..........
NIRS ...............
NMEA .............
NOAEL ............
NPDES ...........
NPDWR ..........
NPYR ..............
NRC ................
NREC ..............
NTP .................
OA ...................
OPP ................
OW ..................
PCCL ..............
PCE ................
PDP ................
PFOA ..............
PFOS ..............
PHA ................
PID ..................
PO 00000
Frm 00003
Fmt 4701
Sfmt 4702
PWS ................
QA ...................
RD 1 ...............
RD 2 ...............
RD 3 ...............
RED ................
RfD ..................
RL ...................
RSC ................
SAP .................
SDWA .............
SEPW .............
SS ...................
SSCTs ............
STORET .........
SW ..................
SY ...................
SY3 .................
TCE .................
TPTH ..............
TRED ..............
TRI ..................
TT ...................
UCM ................
UCMR 1 ..........
UCMR 2 ..........
UCMR 3 ..........
UF ...................
USDA ..............
USGS ..............
VOC ................
WHO ...............
Table of Contents
I. General Information
A. Does this action apply to me?
B. Tips for Preparing Your Comments
II. Purpose and Background
A. What is the purpose of this action?
B. Background on the CCL and Regulatory
Determinations
1. Statutory Requirements for CCL and
Regulatory Determinations
2. The First Contaminant Candidate List
(CCL 1) and Regulatory Determinations
(RD 1)
E:\FR\FM\20OCP2.SGM
20OCP2
62718
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
3. The Second Contaminant Candidate List
(CCL 2) and Regulatory Determinations
(RD 2)
4. The Third Contaminant Candidate List
(CCL 3) and Regulatory Determinations
(RD 3)
5. The Drinking Water Strategy
6. Outreach for RD 3 (Stakeholder Meeting
and Expert Review)
III. Approach and Overall Outcome for RD 3
A. Summary of the Approach and Overall
Outcome for RD 3
1. Phase 1 (Data Availability Phase)
2. Phase 2 (Data Evaluation Phase)
3. Phase 3 (Regulatory Determination
Assessment Phase)
B. Supporting Documentation for EPA’s
Preliminary Determinations
C. Analyses Used To Support the
Preliminary Regulatory Determinations
1. Evaluation of Adverse Health Effects
2. Evaluation of Contaminant Occurrence
and Exposure
IV. Contaminant-Specific Discussions for the
RD 3 Preliminary Regulatory
Determinations
A. Summary of the Preliminary Regulatory
Determination
B. Contaminant Profiles
1. Dimethoate
2. 1,3-Dinitrobenzene
3. Strontium
4–5. Terbufos and Terbufos Sulfone
V. What is the status of the agency’s
evaluation of chlorate and the
nitrosamines?
VI. What about the remaining CCL 3
contaminants?
VII. EPA’s Next Steps
VIII. References
Appendix: HRL Derivation with AgeRelated Exposure Factors
II. Purpose and Background
This section briefly summarizes the
purpose of this action, the statutory
requirements, and previous activities
related to the CCL and regulatory
determinations.
tkelley on DSK3SPTVN1PROD with PROPOSALS2
A. What is the purpose of this action?
The purpose of this action is to
present and request comment on EPA’s
preliminary regulatory determinations
for five unregulated contaminants. The
five contaminants include: Dimethoate,
1,3-dinitrobenzene, strontium, terbufos,
and terbufos sulfone. The agency is
making preliminary determinations to
regulate one contaminant (strontium)
and to not regulate the remaining four
contaminants (dimethoate, 1,3dinitrobenzene, terbufos, and terbufos
sulfone). EPA seeks comment on these
preliminary determinations. The agency
is also presenting and requesting
comment on the process used for this
round of regulatory determinations (i.e.,
RD 3), the supporting information, and
the rationale used to make these
preliminary decisions.
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
B. Background on the CCL and
Regulatory Determinations
1. Statutory Requirements for CCL
and Regulatory Determinations. Section
1412(b)(1)(B)(i) of the 1996 Safe
Drinking Water Act Amendments
(SDWA) requires EPA to publish the
CCL every five years. The CCL is a list
of contaminants which are not subject to
any proposed or promulgated national
primary drinking water regulations
(NPDWRs), are known or anticipated to
occur in public water systems (PWSs),
and may require regulation under
SDWA. SDWA section 1412(b)(1)(B)(ii)
directs EPA to determine whether to
regulate at least five contaminants from
the CCL every five years. For EPA to
make a determination to regulate a
contaminant, SDWA requires the
Administrator to determine that:
(a) The contaminant may have an
adverse effect on the health of persons;
(b) the contaminant is known to occur
or there is substantial likelihood that the
contaminant will occur in public water
systems with a frequency and at levels
of public health concern; and
(c) in the sole judgment of the
Administrator, regulation of such
contaminant presents a meaningful
opportunity for health risk reduction for
persons served by public water systems.
If EPA determines that these three
statutory criteria are met and makes a
final determination to regulate a
contaminant, the agency has 24 months
to publish a proposed Maximum
Contaminant Level Goal 1 (MCLG) and
NPDWR.2 After the proposal, the agency
has 18 months to publish and
promulgate a final MCLG and NPDWR
(SDWA section 1412(b)(1)(E)).3
2. The First Contaminant Candidate
List (CCL 1) and Regulatory
Determinations (RD 1). EPA published
the final CCL 1, which contained 60
chemical and microbiological
contaminants, in the Federal Register
(FR) on March 2, 1998 (63 FR 10273;
USEPA, 1998). The agency made and
published the final regulatory
1 The MCLG is the ‘‘maximum level of a
contaminant in drinking water at which no known
or anticipated adverse effect on the health of
persons would occur, and which allows an
adequate margin of safety. Maximum contaminant
level goals are non-enforceable health goals.’’ (40
CFR 141.2; 42 U.S.C. 300g–1)
2 An NPDWR is a legally enforceable standard
that applies to public water systems. An NPDWR
sets a legal limit (called a maximum contaminant
level or MCL) or specifies a certain treatment
technique (TT) for public water systems for a
specific contaminant or group of contaminants. The
MCL is the highest level of a contaminant that is
allowed in drinking water and is set as close to the
MCLG as feasible using the best available treatment
technology and taking cost into consideration.
3 The statute authorizes a nine month extension
of this promulgation date.
PO 00000
Frm 00004
Fmt 4701
Sfmt 4702
determinations for 9 of the 60 CCL 1
contaminants in the FR on July 18,
2003. The agency determined that
NPDWRs were not necessary for any of
these nine contaminants:
Acanthamoeba, aldrin, dieldrin,
hexachlorobutadiene, manganese,
metribuzin, naphthalene, sodium, and
sulfate (68 FR 42898; USEPA, 2003a).
The agency posted information about
Acanthamoeba 4 on the EPA Web site
and issued health advisories 5 for
manganese, sodium, and sulfate.
3. The Second Contaminant
Candidate List (CCL 2) and Regulatory
Determinations (RD 2). The agency
published the final CCL 2 in the FR on
February 24, 2005, (70 FR 9071; USEPA,
2005a) and carried forward the 51
remaining chemical and microbial
contaminants listed on CCL 1. The
agency made and published the final
regulatory determinations for 11 of the
51 CCL 2 contaminants in the FR on
July 30, 2008. The agency determined
that NPDWRs were not necessary for
any of these 11 contaminants: boron, the
dacthal mono- and di-acid degradates,
1,1-dichloro-2,2-bis(pchlorophenyl)ethylene (DDE), 1,3dichloropropene (Telone), 2,4dinitrotoluene, 2,6-dinitrotoluene, sethyl propylthiocarbamate (EPTC),
fonofos, terbacil, and 1,1,2,2tetrachloroethane (73 FR 44251; USEPA,
2008a). The agency issued new or
updated health advisories 6 for boron,
dacthal degradates, 2,4-dinitrotoluene,
2,6-dinitrotoluene and 1,1,2,2tetrachloroethane.
4. The Third Contaminant Candidate
List (CCL 3) and Regulatory
Determinations (RD 3). The agency
published the final CCL 3, which listed
116 contaminants, in the FR on October
8, 2009 (74 FR 51850; USEPA, 2009a).
In developing CCL 3, EPA improved and
built upon the process that was used for
CCL 1 and CCL 2. The new CCL 3
process was based on substantial expert
input and recommendations from the
National Academy of Science’s (NAS)
National Research Council (NRC) and
the National Drinking Water Advisory
Council (NDWAC) as well as input from
the public. Based on these consultations
and input, EPA developed a multi-step
process to select candidates for the final
4 Consumer information about Acanthamoeba for
people who wear contact lenses can be found at
https://water.epa.gov/action/advisories/
acanthamoeba/index.cfm.
5 The health advisories for CCL 1 can be found
at https://water.epa.gov/drink/standards/
hascience.cfm.
6 The health advisories for CCL 2 can be found
at https://water.epa.gov/drink/standards/
hascience.cfm.
E:\FR\FM\20OCP2.SGM
20OCP2
tkelley on DSK3SPTVN1PROD with PROPOSALS2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
CCL 3, which included the following
key steps:
(a) Identification of a broad universe
of ∼7,500 potential drinking water
contaminants (the CCL 3 Universe);
(b) screening the CCL 3 Universe to a
preliminary CCL (PCCL) of ∼600
contaminants based on the potential to
occur in PWSs and the potential for
public health concern; and
(c) evaluation of the PCCL
contaminants based on a more detailed
review of the occurrence and health
effects data to identify a final list of 116
CCL 3 contaminants.
The development of the CCL,
regulatory determinations, and any
subsequent rulemaking should be
viewed as a progression where each
process builds upon the previous
process, including the collection of data
and analyses conducted. The agency’s
improvements in developing CCL 3
provide an excellent foundation for RD
3 by enhancing EPA’s ability to identify
contaminants of concern for drinking
water.
While this notice focuses on the
preliminary regulatory determinations
for 5 of the 116 CCL 3 contaminants, it
is important to note that the agency
made and published a final
determination to regulate one CCL 3
contaminant, perchlorate, on February
11, 2011 (76 FR 7762; USEPA, 2011a).
Additional information about CCL 3 and
the perchlorate final determination can
be found in the October 8, 2009 (74 FR
51850; USEPA, 2009a) and February 11,
2011 (76 FR 7762; USEPA, 2011a)
Federal Register notices, respectively.
Sections III and IV in this notice provide
more detailed information about the
approach and outcome used for RD 3
and the contaminant-specific regulatory
determinations.
5. The Drinking Water Strategy. In
March 2010, EPA announced the
agency’s new Drinking Water Strategy
(DWS),7 which is aimed at finding ways
to strengthen the protection of public
health from contaminants in drinking
water. The new vision is intended to
streamline decision-making, expand
protection under existing laws, and
promote cost-effective new technologies
to meet the needs of rural, urban, and
other water-stressed communities. The
four principles underlying the DWS are:
(a) Address contaminants as groups
rather than one at a time so that
enhancement of drinking water
protection can be achieved costeffectively.
(b) Foster development of new
drinking water technologies to address
7 More information about the DWS can be found
at water.epa.gov/lawsregs/rulesregs/sdwa/
dwstrategy/.
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
health risks posed by a broad array of
contaminants.
(c) Use the authority of multiple
statutes to help protect drinking water.
(d) Partner with States to develop
shared access to all PWSs monitoring
data.
The first principle (i.e., addressing
contaminants as groups) has a direct
bearing on RD 3 and how to designate
the contaminants for analysis,
determination and subsequent
regulation; that is, should they be
considered individually or as a group.
Although the agency has previously
regulated contaminants as groups (e.g.,
total trihalomethanes, total haloacetic
acids, gross alpha radionuclides, gross
beta and photon emitters, etc.), all of the
determinations for RD 1 and RD 2 were
made on individual contaminants. As
part of the DWS, the agency identified
several factors to evaluate which
contaminants might effectively be
regulated as a group and considered
these factors in evaluating contaminant
groups for RD 3. All the factors do not
have to be met, but the more factors that
are met, the more suitable it may be to
regulate the contaminants as a group.
These factors include whether the
contaminants in the group:
(a) Have a similar health endpoint,
(b) can be measured by the same
analytical methods,
(c) can be treated using the same
technology or treatment technique
approach and/or
(d) have been shown to occur
individually (and possibly co-occur if
data are available).
EPA conducted extensive national
outreach to solicit input from
stakeholders on the DWS and how best
to address groups of contaminants.
Stakeholders generally agreed that while
public health protection is of paramount
importance, the grouping factors
previously listed were some of the other
important factors to consider in
evaluating which contaminants would
work best in a group regulation. Several
CCL 3 contaminants (as well as non-CCL
3 contaminants) belong to contaminant
groups that underwent consideration for
regulation during the RD 3 process.
In February 2011,8 the agency decided
to address carcinogenic volatile organic
compounds (cVOCs) as a group in a
separate and concurrent regulatory
process (which the agency expects to
release in late 2014). Some of the cVOCs
being considered include unregulated
cVOCs listed on CCL 3 (e.g., 1,2,3trichloropropane). While the cVOC
group is being evaluated in a separate
8 https://water.epa.gov/lawsregs/rulesregs/sdwa/
dwstrategy/.
PO 00000
Frm 00005
Fmt 4701
Sfmt 4702
62719
regulatory process, the same factors
used to group cVOCs (i.e., similar health
endpoint, measured by the same
analytical method, similar treatment
technique approach, etc.) were used to
evaluate groups of contaminants for RD
3 as well (e.g., nitrosamines,
chloroacetanilides, etc.). Although EPA
evaluated the nitrosamines and
chloroacetanilides groups as part of the
RD 3 process, in the end, EPA decided
not to make any preliminary
determinations for these groups under
RD 3.
The SDWA requires EPA to review
each existing NPDWR at least once
every six years and revise them, if
appropriate. The purpose of the review,
called the Six Year Review (SY), is to
identify those NPDWRs for which
current health effects assessments,
changes in technology, and/or other
factors provide a health or technical
basis to support a regulatory revision
that will maintain or provide for greater
protection of the health of persons. In
contrast, the RD process is intended to
address currently unregulated
contaminants. The agency will review
the existing Microbial Disinfection
Byproduct (MDBP) regulations as part of
the third Six Year Review (SY3).
Because chlorate and nitrosamines are
disinfection byproducts (DBPs) that can
be introduced or formed in public water
systems partly because of disinfection
practices, the agency believes it is
important to evaluate these unregulated
DBPs in the context of the review of the
existing DBP regulations. DBPs need to
be evaluated collectively, because the
potential exists that the chemical
disinfection used to control a specific
DBP could affect the concentrations of
other DBPs. Therefore, the agency is not
making a regulatory determination for
chlorate and nitrosamines at this time.
The agency expects to complete the
review of these DBPs by the end of
2015.
6. Outreach for RD 3 (Stakeholder
Meetings and Expert Review).
EPA sought external advice and
expert input for RD 3 by convening two
public stakeholder meetings and
conducting an Expert Review panel. On
March 3, 2011, EPA held an
Environmental Justice (EJ) Stakeholder
meeting in Washington, DC to solicit
input on RD 3 and environmental
justice issues. Approximately 90
stakeholders participated (either by
phone or in person) including
representatives of children’s advocacy
groups, environmental organizations,
community action groups, the drinking
water industry, and State drinking water
and public health programs.
Stakeholders did not identify any EJ
E:\FR\FM\20OCP2.SGM
20OCP2
62720
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
issues specific to RD 3. On June 16,
2011, EPA held another public
Stakeholder Meeting in Washington,
DC, to disseminate information on the
progress of RD 3 and solicit input from
stakeholders, the public, and other
interested groups. Forty-six participants
attended including representatives from
States, environmental and public health
organizations, drinking water systems,
chemical manufacturers, local
governments, and academia. EPA
presented and discussed: (a) The
approach used to narrow the
contaminants listed on CCL 3 and
identify potential candidates for RD 3
(with a focus on those occurring at
levels of health concern in drinking
water) and (b) the background, health,
and occurrence information for a ‘‘short
list’’ of 32 9 contaminants being
evaluated as potential RD 3 candidates.
Stakeholders asked questions and
provided comments about the approach
as well as the health and occurrence
information presented on several
contaminants. One stakeholder
provided additional health information
on the chloroacetanilides and submitted
a letter requesting that EPA regulate
these compounds with an NPDWR
(USEPA, 2011b). A summary of the June
16, 2011, meeting is provided in the
docket for this action (USEPA, 2011c).
In May 2011, the Government
Accountability Office (GAO) released a
report entitled, ‘‘EPA Should Improve
Implementation of Requirements on
Whether to Regulate Additional
Contaminants’’ (GAO, 2011).
Specifically for regulatory
determinations, GAO recommended that
the agency develop criteria to identify
contaminants of greatest public health
concern and be more transparent, clear,
tkelley on DSK3SPTVN1PROD with PROPOSALS2
9 Subsequent to the June 2011 stakeholder
meeting and before the October 2011 Expert
Review, EPA identified two additional
contaminants for the shortlist, bringing the total to
34. In response to the Expert Review comments, an
additional contaminant was added to the short list,
bringing the final total to 35 CCL 3 contaminants.
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
and consistent by developing policies/
guidance to interpret the SDWA criteria
and make determinations (i.e., include
thresholds for positive findings, factors
for determining adequacy of occurrence/
health data to make determinations, an
approach for evaluating health effects
on sensitive subpopulations, a process
for presenting key information in
documents, etc). In response to
questions regarding the GAO report at a
July 2011 U.S. Senate Committee on
Environment and Public Works (SEPW)
hearing,10 EPA committed to consulting
with an independent panel of scientists
on the RD 3 process to determine how
SDWA criteria 1 and 2 are evaluated,11
how the best available science is used
to make decisions, how the
contaminants of greatest public health
risk are assessed, and how vulnerable
populations (especially children) are
considered. EPA also committed to
making the process used for regulatory
determinations publicly available and to
review the process every five years as
EPA conducts the regulatory
determination cycle.
To implement the commitment, EPA
convened a panel of experts in October
2011 to provide an independent review
of the approach used for RD 3, which
EPA described in a draft of the
document entitled, ‘‘Protocol for the
Regulatory Determinations 3’’ (USEPA,
2014a). The Expert Review panel
included seven experts representing one
or more of the following areas of
expertise: health effects evaluation,
drinking water occurrence/exposure
information evaluation, State drinking
water perspective, PWS perspective,
10 The U.S. Senate Committee on Environment
and Public Works full committee hearing, entitled
‘‘Oversight Hearing on the Environmental
Protection Agency’s Implementation of the Safe
Drinking Water Act’s Unregulated Drinking Water
Contaminants Program’’ can be found at (https://
www.epw.senate.gov/public/
index.cfm?FuseAction=Hearings.Hearing&Hearing_
ID=fc5a8756-802a-23ad-454a-b9eeb7bf1c36).
11 Under the statute, SDWA criterion 3 of Section
1412(b)(1)(A) is solely the Administrator’s decision.
PO 00000
Frm 00006
Fmt 4701
Sfmt 4702
and/or some familiarity with the RD 3
process (including the Contaminant
Candidate List). The review involved a
three-week paper review of the October
2011 Draft RD 3 Protocol document and
an in-person meeting held in
Washington DC, on October 26 and 27,
2011. Panel members were encouraged
to provide comments as individuals
based upon their expertise and
background, not as representatives of
any respective organizational affiliation.
The information and input provided by
the expert reviewers assisted the agency
in revising and clarifying the approach
used for the RD 3 process. A summary
of the October 26–27, 2011, meeting and
the expert reviewers’ comments
(USEPA, 2011d), as well as the protocol
document (USEPA, 2014a), are provided
in the docket for this action.
III. Approach and Overall Outcome for
RD 3
This section describes (a) the
approach EPA uses to identify and
evaluate contaminants for the agency’s
third round of Regulatory
Determinations (RD 3) along with the
overall outcome of applying this
approach, (b) the supporting RD 3
documentation, and (c) the technical
analyses and sources of health and
occurrence information.
A. Summary of the Approach and
Overall Outcome for RD 3
The three phases of the RD 3 Process
are (1) the Data Availability Phase, (2)
the Data Evaluation Phase, and (3) the
Regulatory Determination Assessment
Phase. Figure 1 provides a brief
overview of the process EPA uses to
identify which CCL 3 contaminants are
candidates for regulatory determinations
and the SDWA statutory criteria
considered in making the regulatory
determinations. For more detailed
information on the three phases of the
RD 3 process please refer to the
‘‘Protocol for the Regulatory
Determinations 3’’ (USEPA, 2014a).
E:\FR\FM\20OCP2.SGM
20OCP2
1. Phase 1 (Data Availability Phase)
In Phase 1, the Data Availability
Phase, the agency identifies
contaminants that may have sufficient
health and occurrence data to proceed
to Phase 2 and be listed on a ‘‘short list’’
for further evaluation. With regard to
sufficient health effects data used to
identify potential adverse health
effect(s), the agency considers whether a
peer-reviewed health risk assessment is
available or in process from one of the
following sources: (a) The agency’s
Integrated Risk Information System
(IRIS); (b) the agency’s Office of Water
(OW); (c) the agency’s Office of
Pesticide Programs (OPP); (d) the
National Academy of Sciences (NAS);
(e) the Agency for Toxic Substances and
Disease Registry (ATSDR); and/or (f) the
World Health Organization (WHO). For
a non-EPA health assessment (i.e., NAS,
ATSDR, WHO) to be utilized for
regulatory determinations, the health
assessment must use comparable
methods, standards, and guidelines to
an EPA health assessment. If a health
assessment is not available from one of
these sources, then the contaminant is
not considered for RD 3.
In regard to sufficient occurrence
data, the agency considers the
availability of nationally representative
finished water data and whether other
finished water data are available that
indicate known and/or likely
occurrence in PWSs. Occurrence data
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
from the following sources,
administered or overseen by EPA, is
considered nationally representative: (a)
The Second Unregulated Contaminant
Monitoring Regulation (UCMR 2); (b)
the First Unregulated Contaminant
Monitoring Regulation (UCMR 1)
Assessment Monitoring; (c) the
Unregulated Contaminant Monitoring
(UCM) program; and/or (d) the National
Inorganics and Radionuclides Survey
(NIRS).
If nationally representative data are
not available, EPA identifies and
evaluates other finished water data,
which may include other national
assessments as well as regional, State,
and more localized finished water
assessments. These other national
finished water data include assessments
that are geographically distributed
across the nation but not intended to be
statistically representative of the nation.
These other finished water data include
the following sources for consideration
in the regulatory determination process:
(a) Finished water assessments for
Federal agencies (e.g., EPA and the
United States Geological Survey
(USGS)); 12 (b) state-level finished water
monitoring data; (c) research performed
12 These may be assessments that are
geographically distributed across the nation but not
intended to be statistically representative of the
nation. Examples include EPA’s Disinfection By
Product Information Collection Request and various
USGS water quality surveys.
PO 00000
Frm 00007
Fmt 4701
Sfmt 4702
62721
by institutions and universities (e.g.,
scientific literature); and/or (d) other
supplemental finished water monitoring
surveys (e.g., Pesticide Monitoring
Program (PMP), National
Reconnaissance of Emerging
Contaminants (NREC), and other
targeted surveys or localized State/
Federal monitoring surveys).
EPA prefers to have nationally
representative data available when
making regulatory determinations but
may also use these other sources of
finished water occurrence data to
evaluate the contaminant and determine
if there is ‘‘substantial likelihood that
the contaminant will occur in PWSs
with a frequency and at levels of public
health concern.’’ If there is sufficient
occurrence in these other finished water
data sources, EPA uses this information
to address the occurrence-related
aspects of the statutory criteria when
deciding to regulate a contaminant.
However, it is difficult to determine that
a contaminant is not occurring or not
likely to occur based on these other
sources of finished water data because
the data are limited in scope and the
contaminant could be occurring in other
parts of the country that were not
monitored.
EPA also considers the availability of
analytical methods for monitoring, and
whether the contaminant is part of a
contaminant group based on factors
defined by the Drinking Water Strategy
E:\FR\FM\20OCP2.SGM
20OCP2
EP20OC14.000
tkelley on DSK3SPTVN1PROD with PROPOSALS2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
62722
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
(DWS) (see section II.B.5). After
conducting the health and occurrence
data availability assessments, the agency
identifies those contaminants and
contaminant groups that meet the
following Phase 1 data availability
criteria:
(a) A peer-reviewed health assessment
is available or in process, and
(b) A widely available analytical
method for monitoring is available, and
(c) Either nationally representative
finished water occurrence data are
available, or other finished water
occurrence data shows occurrence at
levels >1⁄2 CCL 3 health reference level
(HRL).13
If a contaminant meets these three
criteria, it is placed on a ‘‘short list’’ and
proceeds to Phase 2. EPA also evaluated
whether the contaminant could be
considered as part of a group using the
DWS factors discussed earlier in section
II.B.5. After evaluating the 116 CCL 3
contaminants in Phase 1, the agency
identified 35 CCL 3 contaminants and
two non-CCL 3 contaminants (listed in
Table 1) to evaluate further in Phase 2.
The non-CCL 3 contaminants were
included because they are part of a
larger group (nitrosamines) that also
includes a number of CCL 3
contaminants.
TABLE 1—CONTAMINANTS PROCEEDING FROM PHASE 1 TO PHASE 2
1, 1, 1, 2-Tetrachloroethane 1 3 ..............................................................................................................
1, 2, 3-Trichloropropane 1 3 ....................................................................................................................
1, 3-Dinitrobenzene 1 .............................................................................................................................
1, 4-Dioxane 2 ........................................................................................................................................
Acephate 2 ..............................................................................................................................................
Acetochlor 1 3 ..........................................................................................................................................
Acetochlor ethanesulfonic acid (ESA) 1 3 ...............................................................................................
Acetochlor oxanilic acid (OA) 1 3 ............................................................................................................
Alachlor ethanesulfonic acid (ESA) 1 3 ...................................................................................................
Alachlor oxanilic acid (OA) 1 3 ................................................................................................................
Chlorate 2 ...............................................................................................................................................
Cobalt 1 ...................................................................................................................................................
Dimethoate 1 ...........................................................................................................................................
Disulfoton 4 .............................................................................................................................................
Diuron 4 ..................................................................................................................................................
Methyl bromide (Bromomethane) 1 ........................................................................................................
Methyl tert-butyl ether 1 ..........................................................................................................................
Metolachlor 1 3 .........................................................................................................................................
Metolachlor ethanesulfonic acid (ESA) 1 3 ..............................................................................................
Metolachlor oxanilic acid (OA).1 3
Molinate.1
Molybdenum.1
Nitrobenzene.1 3
N-Nitroso-di-n-butylamine (NDBA).1 3 5
N-Nitrosodiethylamine (NDEA).1 3
N-Nitrosodimethylamine (NDMA).1 3
N-Nitroso-di-n-propylamine (NDPA).1 3
N-Nitrosodiphenylamine (NDPhA).3
N-Nitrosomethylethylamine (NMEA).1 3 5
N-Nitrosopyrrolidine (NPYR).1 3
Perfluorooctanesulfonic acid (PFOS).2
Perfluorooctanoic acid (PFOA).2
RDX.1
Strontium.1
Terbufos.2 3
Terbufos sulfone.1 3
Vanadium.1
1 Has
nationally representative finished water data and available or in process health assessment.
other finished water data (occurrence at levels >1⁄2 CCL 3 HRL) and available or in process health assessment.
of a contaminant group and will be further evaluated in Phase 2.
4 One exception to the criterion of having available nationally representative drinking water data applies to contaminants monitored in the
UCMR 1 Screening Survey (SS). As noted in section 5, the UCMR 1 SS is a statistically defined, national sample of 300 PWSs. Because this
survey only includes 300 systems, the agency identified and compiled additional supplemental data to compliment the UCMR 1 SS data for
these contaminants that proceed to Phase 2 for further evaluation.
5 A non-CCL 3 contaminant that is part of the nitrosamine group.
2 Has
3 Component
The remaining 81 CCL 3 contaminants
(listed in Table 2) did not meet either or
both of the Phase 1 data availability
criteria above and were not considered
further for RD 3.
TABLE 2—CONTAMINANTS NOT PROCEEDING FROM PHASE 1 TO PHASE 2
Has nationally representative finished water data but no health assessment
1,1-Dichloroethane .................................................................................................................................
3-Hydroxycarbofuran ..............................................................................................................................
Chloromethane (Methyl chloride) ...........................................................................................................
Germanium ............................................................................................................................................
Halon 1011 (Bromochloromethane).
n-Propylbenzene.
sec-Butylbenzene.
Tellurium.
Has available or in process health assessment and other finished drinking water data but no occurrence at levels >1⁄2 CCL 3 HRL
tkelley on DSK3SPTVN1PROD with PROPOSALS2
1-Butanol ................................................................................................................................................
Acrolein ..................................................................................................................................................
alpha-Hexachlorocyclohexane ...............................................................................................................
Bensulide ...............................................................................................................................................
Benzyl chloride .......................................................................................................................................
Captan ....................................................................................................................................................
13 See section III.C for a discussion about how
EPA derives an HRL. EPA developed the CCL 3
HRLs using the most recent health data available
during the CCL 3 process. EPA uses 1⁄2 CCL 3 HRL
as a conservative value to identify contaminants
VerDate Sep<11>2014
19:03 Oct 17, 2014
Jkt 235001
with potential occurrence of concern during Phase
1 of the RD process. The CCL 3 HRLs for the 116
contaminants can be found at (https://water.epa.gov/
scitech/drinkingwater/dws/ccl/upload/Final-CCL-3Contaminant-Information-Sheets.pdf). After
PO 00000
Frm 00008
Fmt 4701
Sfmt 4702
Formaldehyde.
Methamidophos.
Oxydemeton-methyl.
Oxyfluorfen.
Permethrin.
Profenofos.
updating, completing and peer-reviewing health
assessments as necessary, the final HRL used for RD
3 may be different than the CCL 3 HRL.
E:\FR\FM\20OCP2.SGM
20OCP2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
62723
TABLE 2—CONTAMINANTS NOT PROCEEDING FROM PHASE 1 TO PHASE 2—Continued
Dicrotophos ............................................................................................................................................
Ethoprop .................................................................................................................................................
Ethylene glycol .......................................................................................................................................
Ethylene thiourea (Maneb) ....................................................................................................................
Fenamiphos ...........................................................................................................................................
Tebuconazole.
Tribufos.
Vinclozolin.
Ziram.
Has other finished drinking water data but no health assessment
17-alpha-Estradiol ..................................................................................................................................
Acetaldehyde .........................................................................................................................................
Aniline ....................................................................................................................................................
Butylated hydroxyanisole .......................................................................................................................
Cyanotoxins (Anatoxin-a, Cylindrospermopsin, Microcystin-LR) ...........................................................
Equilenin ................................................................................................................................................
Equilin ....................................................................................................................................................
Erythromycin ..........................................................................................................................................
Estradiol (17-beta-Estradiol) ..................................................................................................................
Estriol.
Estrone.
Ethinyl Estradiol (17-alpha-ethynyl estradiol).
HCFC-22.
Hexane.
Mestranol.
Norethindrone (19-Norethisterone).
Naegleria fowleri.*
Does not have nationally representative or other finished water data
1,3-Butadiene .........................................................................................................................................
2-Methoxyethanol ...................................................................................................................................
2-Propen-1-ol .........................................................................................................................................
4,4′-Methylenedianiline ..........................................................................................................................
Acetamide ..............................................................................................................................................
Clethodim ...............................................................................................................................................
Cumene hydroperoxide ..........................................................................................................................
Dimethipin ..............................................................................................................................................
Ethylene oxide .......................................................................................................................................
Hydrazine ...............................................................................................................................................
Methanol ................................................................................................................................................
Nitroglycerin ...........................................................................................................................................
N-Methyl-2-pyrrolidone ...........................................................................................................................
o-Toluidine .............................................................................................................................................
Oxirane, methyl- .....................................................................................................................................
Quinoline.
Tebufenozide.
Thiodicarb.
Thiophanate-methyl.
Toluene diisocyanate.
Triethylamine.
Triphenyltin hydroxide (TPTH).
Urethane.
Campylobacter jejuni.
Escherichia coli (0157).
Helicobacter pylori.
Hepatitis A virus.
Salmonella enteric.
Shigella sonnei.
Does not have a widely available analytical method for occurrence monitoring
Adenovirus .............................................................................................................................................
Caliciviruses ...........................................................................................................................................
Enterovirus .............................................................................................................................................
Legionella pneumophila.
Mycobacterium avium.
Not within scope of this RD 3 since regulatory determination made in February 2011
Perchlorate .............................................................................................................................................
* Does not have a widely available analytical method for occurrence monitoring.
tkelley on DSK3SPTVN1PROD with PROPOSALS2
2. Phase 2 (Data Evaluation Phase)
Contaminants that meet the minimum
health and occurrence data availability
requirements in Phase 1 are advanced to
the Phase 2 evaluation. In addition to
health and occurrence information data
assessed in Phase 1, the agency collects
additional health and occurrence data
and more thoroughly evaluates this
information to identify a list of
contaminants that should proceed to
Phase 3. The agency uses the following
steps to develop this list: (a) Derive a
draft HRL 14 (See section III.C) for each
14 HRLs are not final determinations about the
level of a contaminant in drinking water that is
necessary to protect any particular population and
are derived prior to development of a complete
exposure assessment. HRLs are risk derived
concentrations against which to evaluate the
occurrence data to determine if contaminants occur
at levels of potential public health concern.
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
contaminant, (b) compare all occurrence
data against the draft HRL (along with
the analytical method minimum
reporting limit (MRL)), (c) identify
contaminants that occur at levels and
frequencies of public health concern,
and (d) identify contaminants that have
no or low occurrence at levels of public
health concern.
Using the available health effects
assessments, the agency derives a draft
HRL and then evaluates this HRL value
(along with the analytical method MRL),
against the concentration values
compiled for the nationally
representative or other finished water
occurrence information identified in
Phase 1. The agency also gathers
additional occurrence data and
information on monitoring in ambient
or source water (relative to the draft
HRL and the analytical method MRL),
PO 00000
Frm 00009
Fmt 4701
Sfmt 4702
production, use, release to the
environment, and persistence and
mobility. In Phase 2, the agency
specifically focuses its efforts to identify
those contaminants or contaminant
groups that are occurring or have
substantial likelihood to occur at levels
and frequencies of public health
concern. To identify such contaminants,
the agency considers the following
information:
(a) How many samples (# and %) have
detections > draft HRL and 1⁄2 draft HRL
in the nationally representative and
other finished water occurrence data?
(b) How many systems (# and %) have
detections > draft HRL and 1⁄2 draft HRL
in the nationally representative and
other finished water occurrence data?
and
(c) Is the contaminant associated with
a contaminant group that is of public
E:\FR\FM\20OCP2.SGM
20OCP2
62724
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
health concern and is being considered
as part of the DWS? 15
(d) Are there uncertainties or
limitations with the data and/or
analyses, such as the age of the dataset,
limitation of the detection limit (i.e.,
MRL > draft HRL) and/or
representativeness of the data (e.g.,
limited to a specific region) that may
cause misestimation of occurrence in
finished water at levels and frequency of
public health concern?
After identifying contaminants that
are occurring at levels and frequencies
of public health concern to proceed to
Phase 3, the agency evaluates the
remaining contaminants on the ‘‘short
list’’ to determine which contaminants
have no or low occurrence at levels of
health concern that could also proceed
to Phase 3 by considering the following
factors:
(a) Does the contaminant have
nationally representative finished water
data showing no or low # or % of
detections > draft HRL? 16
(b) If a contaminant has other finished
water data in addition to nationally
representative finished water data, does
it support no or low potential for
occurrence in drinking water?
(c) Does additional occurrence
information of known quality support
low or no occurrence or potential for
occurrence in drinking water? For
example, is the occurrence in ambient/
source water at levels below the draft
HRL? Are releases to the environment or
use/production decreasing over time?
(d) There are no critical information/
data gaps after evaluating the available
health or occurrence data; and
(e) The contaminant is not included
or evaluated with a group of
contaminants based on the factors
defined by the DWS.
After evaluating these factors and
whether a contaminant appears to have
sufficient data to evaluate the statutory
criteria for regulatory determination, the
agency determines if the contaminant
should proceed to Phase 3. After
evaluating the ‘‘short list’’ contaminants
(listed in Table 1), the agency identified
10 CCL 3 contaminants and 2 non-CCL
3 contaminants (listed in Table 3) that
were within one of the following Phase
2 data evaluation categories to proceed
to Phase 3:
(a) A contaminant or part of a
contaminant group occurring or likely to
occur at levels and frequencies of public
health concern, or
(b) A contaminant not occurring or
likely to occur at levels and frequencies
of public health concern and no data
gaps.
TABLE 3—CONTAMINANTS PROCEEDING FROM PHASE 2 TO PHASE 3
Chlorate 1 3 ................................................................................................................................................
Dimethoate 2 ............................................................................................................................................
1,3-Dinitrobenzene 2 .................................................................................................................................
N-Nitroso-di-n-butylamine (NDBA) 1 4 .......................................................................................................
N-Nitrosodimethylamine (NDMA) 1 ...........................................................................................................
N-Nitroso-di-n-propylamine (NDPA) 1 .......................................................................................................
N-Nitrosodiethylamine (NDEA).1
N-Nitrosomethylethylamine (NMEA).1 4
N-Nitrosopyrrolidine (NPYR).1
Strontium.1 3
Terbufos.2
Terbufos Sulfone.2
1A
contaminant or part of a contaminant group occurring or likely to occur at levels and frequencies of public health concern.
contaminant not occurring or likely to occur at levels and frequencies of public health concern and no data gaps.
UCMR 3 includes sampling at both the entry point to the distribution system (EPTDS) and distribution system maximum residence time
(DSMRT) for this contaminant (77 FR 26071, May 2, 2012). For some contaminants, including disinfection byproducts and inorganics, occurrence
values may differ between the EPTDS and the DSMRT due to dynamics within the distribution system such as contaminant degradation, formation, accumulation and release.
4 A non-CCL 3 contaminant that is part of the nitrosamine group.
2A
tkelley on DSK3SPTVN1PROD with PROPOSALS2
3 The
Note that the agency does not have a
threshold or a bright line for occurrence
in drinking water that triggers whether
a contaminant is of public health
concern. There are a number of factors
to consider in developing thresholds,
some of which include the health
effect(s), the potency of the
contaminant, the level at which the
contaminant is found in drinking water,
how frequently the contaminant is
found, the geographic distribution
(national, regional, or local occurrence),
other possible sources of exposure, and
potential impacts on sensitive
populations or lifestages, etc. Given the
many possible combinations of factors
and the constantly evolving science,
EPA believes it is better to analyze each
contaminant and characterize and
present the best available information
that helps identify whether the
occurrence of a contaminant is of public
health concern. In the end, the
determination of whether there is a
meaningful opportunity for health risk
reduction by regulation of a
contaminant in drinking water is a
highly contaminant-specific one that
takes into consideration a large number
of factors.
The remaining 25 CCL 3 contaminants
(listed in Table 4) did not proceed to
Phase 3 and were not considered for RD
3 because of one or more of the
following critical health, occurrence,
and/or other data gaps:
(a) An updated health assessment is
needed, but was not completed by fall
2011;
(b) A health assessment is in process,
but was not completed by fall 2011;
(c) Critical health effects gap (e.g.,
lack of data to support quantification for
the oral route of exposure);
(d) Lacked nationally representative
occurrence data;
(e) Insufficient other finished water
occurrence data to demonstrate
occurrence at levels and frequencies of
public health concern (although it may
have some levels of public health
concern);
(f) Individual contaminants that were
part of a group but lacked a widely
available analytical method for
occurrence monitoring; and
(g) Critical occurrence data gap (e.g.,
inconsistent results and/or trends in
occurrence data, significant uncertainty
in occurrence analyses and/or data).
Table 4 identifies the health,
occurrence, and/or other data gaps that
prevented the following 25
contaminants from moving forward for
RD 3. The agency continues to conduct
research, collect information or find
other avenues to fill the data and
information gaps identified in Table 4.
15 Carcinogenic Volatile Organic Compounds
(including 1,2,3-trichloropropane) are being
evaluated in a separate regulatory effort.
16 Note that the non-national data tend to be
limited in scope and EPA does not use these data
alone to support a determination that the
contaminant is not or is not substantially likely to
‘‘occur in PWSs with a frequency and at levels of
public health concern,’’ which would therefore be
a decision ‘‘not to regulate’’ (i.e., negative
determination).
VerDate Sep<11>2014
18:38 Oct 17, 2014
Jkt 235001
PO 00000
Frm 00010
Fmt 4701
Sfmt 4702
E:\FR\FM\20OCP2.SGM
20OCP2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
62725
TABLE 4—DATA AND RATIONALE SUMMARY OF THE 25 CONTAMINANTS NOT PROCEEDING TO PHASE 3
Contaminant
Health data
available
Occurrence
data available
Rationale
1 ...................
1,4-Dioxane .............................
Yes ...............
No 1 ..............
2 ...................
Acephate ..................................
Yes ...............
No ................
3 ...................
Acetochlor ................................
No ................
Yes ...............
4 ...................
Acetochlor ethanesulfonic acid
(ESA).
No ................
Yes ...............
5 ...................
Acetochlor oxanilic acid (OA) ..
No ................
Yes ...............
6 ...................
Alachlor ethanesulfonic
(ESA).
acid
No ................
Yes ...............
7 ...................
Alachlor oxanilic acid (OA) ......
No ................
Yes ...............
8 ...................
Cobalt ......................................
No ................
Yes 2 .............
9 ...................
Disulfoton .................................
Yes ...............
No ................
10 .................
Diuron ......................................
Yes ...............
No ................
11 .................
12 .................
Methyl Bromide ........................
Methyl tert-butyl ether ..............
No ................
No ................
Yes 1 .............
Yes ...............
13 .................
Metolachlor ..............................
No ................
Yes ...............
14 .................
Metolachlor
acid (ESA).
No ................
Yes ...............
15 .................
Metolachlor oxanilic acid (OA)
No ................
Yes ...............
16 .................
Molinate ...................................
No ................
Yes ...............
17 .................
Molybdenum ............................
No ................
Yes ...............
18 .................
N-Nitrosodiphenylamine
(NDPhA).
Yes ...............
No ................
19 .................
Perfluorooctanesulfonic
(PFOS).
No ................
No 1 ..............
20 .................
Perfluorooctanoic acid (PFOA)
No ................
No 1 ..............
21 .................
RDX .........................................
No ................
Yes ...............
22 .................
tkelley on DSK3SPTVN1PROD with PROPOSALS2
No.
Vanadium .................................
No ................
Yes 2 .............
23 .................
1,1,1,2-Tetrachloroethane .......
......................
......................
24 .................
1,2,3-Trichloropropane ............
......................
(1) .................
Occurrence data gaps (no nationally representative finished
water data or sufficient other finished water data).
Occurrence data gaps (no nationally representative finished
water data or sufficient other finished water data).
Health data gap (no health assessment for the degradates)
and no detections in nationally representative finished water
data.
Health data gap (no health assessment for the ESA
degradate) and no or low detections based on nationally
representative finished water data.
Health data gap (no health assessment for the OA degradate)
and no or low detections based on nationally representative
finished water data.
Health data gap (no health assessment for the ESA
degradate) and no or low detections based on nationally
representative finished water data.
Health data gap (no health assessment for the OA degradate)
and no or low detections based on nationally representative
finished water data.
Health data gap (health assessment not updated by fall 2011)
and no detections in nationally representative or other finished water data at levels of public health concern.
Occurrence data gap (no nationally representative finished
water data and no detections in other finished water data).
Occurrence data gap (no nationally representative finished
water data and no detections in other finished water data).
Health data gap (health assessment not updated by fall 2011).
Health data gap (IRIS health assessment not completed by
fall 2011) and no or low detections based on nationally representative finished water data.
Health data gap (no health assessment for degradates) and
few detections in nationally representative finished water
data.
Health data gap (no health assessment for ESA degradate)
and no or low detections based on nationally representative
finished water data.
Health data gap (no health assessment for OA degradate)
and no or low detections based on nationally representative
finished water data.
Health data gap (OPP health assessment not completed by
fall 2011 due to cancellation of molinate) and no detections
in nationally representative or other finished water data at
levels of public health concern.
Health data gap (health assessment not updated by fall 2011)
and no detections in nationally representative or other finished water data at levels of public health concern.
Health data gap (health assessment not updated by fall 2011)
and occurrence data gaps (no EPA approved analytical
method for monitoring).
Health data gap (health assessment not completed by fall
2011) and occurrence data gaps (limited other finished
water data available).
Health data gap (health assessment not completed by fall
2011) and occurrence data gaps (limited other finished
water data available).
Health data gap (IRIS health assessment not updated by fall
2011) and no detections in nationally representative or other
finished water data at levels of public health concern.
Health data gap (health assessment not updated by fall 2011)
and no to low detections in nationally representative finished water data at levels of public health concern.
Will be evaluated and considered for the Carcinogenic Volatile
Organic Compounds (cVOCs) group rule addressed in a
separate process.
Will be evaluated and considered for the Carcinogenic Volatile
Organic Compounds (cVOCs) group rule addressed in a
separate process.
VerDate Sep<11>2014
16:52 Oct 17, 2014
ethanesulfonic
Jkt 235001
acid
PO 00000
Frm 00011
Fmt 4701
Sfmt 4702
E:\FR\FM\20OCP2.SGM
20OCP2
62726
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
TABLE 4—DATA AND RATIONALE SUMMARY OF THE 25 CONTAMINANTS NOT PROCEEDING TO PHASE 3—Continued
No.
Contaminant
Health data
available
Occurrence
data available
Rationale
25 .................
Nitrobenzene ...........................
......................
......................
Will be evaluated and considered for the Carcinogenic Volatile
Organic Compounds (cVOCs) group rule addressed in a
separate process.
1 The
UCMR 3 includes sampling at the EPTDS for this contaminant (77 FR 26071, May 2, 2012).
UCMR 3 includes sampling at both the EPTDS and DSMRT for this contaminant (77 FR 26071, May 2, 2012). For some contaminants,
including disinfection byproducts and inorganics, occurrence values may differ between the EPTDS and the DSMRT due to dynamics within the
distribution system such as contaminant degradation, formation, accumulation and release.
tkelley on DSK3SPTVN1PROD with PROPOSALS2
2 The
3. Phase 3 (Regulatory Determination
Assessment Phase)
Phase 3, the Regulatory Determination
Assessments Phase, involves a complete
evaluation of the statutory criteria for
each contaminant or group of
contaminants that proceed from Phase 2
and have sufficient information and
data for making a regulatory
determination. In this phase, the agency
evaluates the following statutory
criteria:
(a) Statutory Criterion #1—The
contaminant may have an adverse effect
on the health of persons. To evaluate
statutory criterion #1, EPA completes
any health assessment that needs to be
updated and externally peer-reviewed,
and derives a final HRL. The derivation
of the final HRL, further described in
the section III.C.1, Evaluation of
Adverse Health Effects, takes into
account many of the key elements that
are considered when evaluating
criterion #1, which includes the mode
of action, the critical health effect(s), the
dose-response for critical health
effect(s), impacts on sensitive
populations(s) or lifestages, the RfD,
and/or the cancer slope factor. HRLs are
not final determinations about the level
of a contaminant in drinking water that
must not be exceeded to protect any
particular population and are derived
prior to the development of a complete
exposure assessment. HRLs are risk
derived concentrations against which to
evaluate the occurrence data to
determine if contaminants may occur at
levels of potential public health
concern. With this information, EPA
determines whether the contaminant
‘‘may have an adverse effect.’’ While
CCL 3 contaminants are generally
expected to meet statutory criterion #1
because their adverse health effects
were analyzed as part of the
determination to list them on the CCL,
the availability of a final HRL is derived
as part of the first statutory criterion and
is necessary to evaluate the second
statutory criterion.
(b) Statutory Criterion #2—The
contaminant is known to occur or there
is a substantial likelihood that the
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
contaminant will occur in public water
systems with a frequency and at levels
of public health concern. EPA compares
the occurrence data for each
contaminant to the final peer-reviewed
HRL to determine if the contaminant
occurs at a frequency and levels of
public health concern. The types of
occurrence data used at this stage are
described in section III.C.2, Evaluation
of Contaminant Occurrence and
Exposure. The agency considers the
following factors when identifying
contaminants or contaminant groups
that are occurring at frequencies and
levels of public health concern:
• How many samples (# and %) have
detections > final HRL in the nationally
representative and other finished water
occurrence data?
• How many systems (# and %) have
detections > final HRL in the nationally
representative and other finished water
occurrence data?
• Is the contaminant associated with
a contaminant group that is of public
health concern and is being considered
as part of the DWS?
• Is the geographic distribution of the
contaminant occurrence national,
regional, or localized?
• In addition to the number of
systems, what type of systems does the
contaminant occur in? Does the
contaminant occur in large or small
systems? Does the contaminant occur in
surface or ground water systems?
• Are there significant uncertainties
or limitations with the data and/or
analyses, such as the age of the dataset,
limitation of the detection limit (i.e.,
MRL > final HRL) and/or
representativeness of the data (e.g.,
limited in scope to a specific region)?
Additional, less important factors that
the agency considers when identifying
contaminants or contaminant groups
that are of public health concern also
include:
• How many samples (# and %) have
detections >1⁄2 final HRL 17 in the
17 Note that the 1⁄2 HRL threshold is based on a
recommendation from the NDWAC working
grouping that provided recommendations on the
first regulatory determinations effort. (USEPA,
2000b)
PO 00000
Frm 00012
Fmt 4701
Sfmt 4702
nationally representative and other
finished water occurrence data?
• How many systems (# and %) have
detections >1⁄2 final HRL in the
nationally representative and other
finished water occurrence data?
• How many samples (# and %) have
detections > final HRL and 1⁄2 final HRL
in the ambient/source water occurrence
data?
• How many monitoring sites (# and
%) have detections > final HRL and 1⁄2
final HRL in the ambient/source water
occurrence data?
• Are production and use trends for
the contaminant increasing or
decreasing?
• How many pounds are discharged
annually to surface water and/or
released to the environment?
• Do the environmental fate and
transport parameters indicate that the
contaminant would persist and/or be
mobile in water?
• Are there other uncertainties or
limitations with the data and/or
analyses for these additional factors that
should be considered?
• Is the contaminant introduced by
water treatment processes (e.g.,
disinfection byproducts)?
If a contaminant is known to occur or
substantially likely to occur at a
frequency and level of health concern in
public water systems based on the
factors listed above, then the agency
answers ‘‘yes’’ to the second statutory
criterion.
(c) Statutory Criterion #3—In the sole
judgment of the Administrator,
regulation of the contaminant presents a
meaningful opportunity for health risk
reduction for persons served by public
water systems. EPA evaluates the
population exposed at the health level
of concern along with several other
factors to determine if regulation
presents a meaningful opportunity for
health risk reduction. EPA considers the
following factors in evaluating statutory
criterion #3:
• Based on the occurrence
information for statutory criterion #2
(and the potential number of systems
impacted), what is the national
population exposed or served by
E:\FR\FM\20OCP2.SGM
20OCP2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
systems with levels ≥ HRL and 1⁄2 HRL
(provide actual and estimated # and %)?
• What is the nature of the health
effect(s) identified in statutory criterion
#1 and are there sensitive populations
that may be impacted (either qualitative
or quantitative 18)?
• For non-carcinogens, are there other
sources of exposure that should be
considered (i.e., what is the relative
source contribution)?
• What is the geographic distribution
of occurrence (e.g., local, regional,
national)?
• Are there any uncertainties and/or
limitations in the health and occurrence
information or analyses that should be
considered?
• What other factors or other pieces of
information should be considered that
may have direct bearing on any decision
to regulate the contaminant (e.g.,
treatment, analytical methods,19 etc.)?
After evaluating these factors, if the
Administrator determines that there is a
meaningful opportunity to reduce risk
by regulating the contaminant in
drinking water, then the agency answers
‘‘yes’’ to the third statutory criterion.
If the agency answers ‘‘yes’’ to all
three statutory criteria in Phase 3 for a
particular contaminant, then the agency
makes a ‘‘positive’’ preliminary
determination and requests public
comment.
If after the public comment period,
the agency answers ‘‘yes’’ to all three
statutory criteria, the agency then makes
a ‘‘positive’’ final determination that
regulation is necessary and proceeds to
develop an MCLG and NPDWR. The
agency has 24 months to publish a
proposed MCLG and NPDWR and an
additional 18 months to publish a final
62727
Of the twelve contaminants that
proceeded to Phase 3, the agency is not
making preliminary regulatory
determinations for seven contaminants
at this time. The seven contaminants
include chlorate and the six
nitrosamines (i.e., NDBA, NDMA,
NDPA, NDEA, NPYR, and NMEA). As
discussed in section V, chlorate and the
six nitrosamines are DBPs and the
agency plans to consider these
contaminants as part of the regulatory
review of existing MDBP regulations.
DBPs need to be evaluated collectively,
because the potential exists that the
control of one DBP could affect the
concentrations of other DBPs or the
necessary treatment. After evaluating
the five remaining CCL 3 contaminants
in Table 3 (i.e., dimethoate, 1,3dinitrobenzene, strontium, terbufos, and
terbufos sulfone) against the three
SDWA criteria and considering the
factors listed for each, the agency is
making preliminary regulatory
determinations for these five CCL 3
contaminants. Table 5 provides a
summary of the five contaminants
evaluated for Phase 3 and the
preliminary regulatory determination
outcome. The agency seeks comment on
the preliminary determination to
regulate one contaminant (i.e.,
strontium) and to not regulate the
remaining four contaminants (i.e.,
dimethoate, 1,3-dinitrobenzene,
terbufos, and terbufos sulfone). Section
IV.B of this notice provides a more
detailed summary of the information
and the rationale used by the agency to
reach its preliminary decisions for these
five contaminants.
MCLG and promulgate a final NPDWR.
It should be noted that this regulatory
determination process is distinct from
the more detailed analyses needed to
develop a national primary drinking
water regulation. Thus, a decision to
regulate is the beginning of the agency’s
regulatory development process, not the
end.
If a contaminant has sufficient
information and the agency answers
‘‘no’’ to any of the three statutory
criteria, based on the available data,
then the agency considers making a
‘‘negative’’ determination that an
NPDWR is not necessary for that
contaminant at that time. The agency
may decide to develop a Health
Advisory (HA), which provides nonregulatory concentration values for
drinking water contaminants at which
adverse health effects are not
anticipated to occur over specific
exposure durations (one-day, ten-days,
several years, and a lifetime). HAs serve
as informal technical guidance to assist
Federal, State, and local officials, and
managers of public or community water
systems (CWSs) in protecting public
health when emergency spills or
contamination situations occur.
While a negative determination is
considered a final agency action for this
round of regulatory determinations, the
contaminant is reconsidered for
inclusion on the next CCL. If new health
or occurrence information becomes
available on contaminants with negative
regulatory determinations, the agency
considers whether the contaminant(s)
should be listed on the next CCL and
further evaluated in the next regulatory
determinations process.
TABLE 5—CONTAMINANTS EVALUATED IN PHASE 3 AND THE REGULATORY DETERMINATION OUTCOME
RD 3 contaminants
1
2
3
4
5
tkelley on DSK3SPTVN1PROD with PROPOSALS2
No.
Dimethoate ..................................................................................
1,3-Dinitrobenzene ......................................................................
Strontium .....................................................................................
Terbufos ......................................................................................
Terbufos Sulfone .........................................................................
18 If appropriate and if available, the agency
quantitatively takes into account exposure data
applicable to sensitive populations or lifestages
when deriving HRLs for regulatory determinations.
When data is not available on sensitive populations,
the derivation of the RfD typically includes an
uncertainty factor to account for the weakness in
the database. See section III.C.1. Sensitive
populations are also qualitatively considered by
providing national prevalence estimates for a
particular sensitive population if available.
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
Preliminary determination outcome
Do not regulate.
Do not regulate.
Regulate.
Do not regulate.
Do not regulate.
19 If the agency decides to regulate a contaminant,
SDWA requires that EPA issue a proposed
regulation within two years of the final
determination (with the possibility of a 9 month
extension). As part of the proposal, the agency must
list the best available technologies (BATs), small
system compliance technologies (SSCTs), and
approved analytical methods if it proposes an
enforceable MCL. Alternatively, if EPA proposes a
treatment technique (TT) instead of an MCL, the
agency must identify the TT. EPA must also prepare
PO 00000
Frm 00013
Fmt 4701
Sfmt 4702
a health risk reduction and cost analysis. This
analysis includes an extensive evaluation of the
treatment costs and monitoring costs at both system
level and aggregated at the national level. To date,
treatment information and approved analytical
methods have not been a significant factor in
regulatory determinations but are important
considerations for regulation development.
E:\FR\FM\20OCP2.SGM
20OCP2
62728
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
tkelley on DSK3SPTVN1PROD with PROPOSALS2
B. Supporting Documentation for EPA’s
Preliminary Determinations
For this action, EPA prepared several
support documents that are available for
review and comment in the EPA Water
Docket. These support documents
include:
• The comprehensive regulatory
support document entitled, ‘‘Regulatory
Determination 3 Support Document’’
(USEPA, 2014b), summarizes the
information and data on the physical
and chemical properties, uses and
environmental release, environmental
fate, potential health effects, occurrence
and exposure estimates, the preliminary
determinations, and the agency’s
rationale for these determinations.
• A separate health effects support
document for strontium, entitled
‘‘Health Effects Support Document for
Strontium’’ (USEPA, 2014c), that
addresses exposure from drinking water
and other media, toxicokinetics, hazard
identification, and dose-response
assessment, and provides an overall
characterization of the risk from
drinking water containing strontium.
For the contaminants with negative
determinations, the agency refers the
reader to the IRIS or OPP assessments
for more detailed information regarding
health effects (USEPA, 1990a, 1990b,
2003c). These documents serve as the
basis for the health information
provided in the regulatory support
documents.
• A comprehensive technical
occurrence support document for UCMR
2 entitled, ‘‘Occurrence Data from the
Second Unregulated Contaminant
Monitoring Rule (UCMR 2)’’ (USEPA,
2014d). This occurrence support
document includes more detailed
information about UCMR 2, how EPA
assessed the data quality, completeness,
and representativeness, and how the
data were used to generate estimates of
drinking water contaminant occurrence
in support of these regulatory
determinations.
• A comprehensive protocol
document, entitled ‘‘Protocol for the
Regulatory Determination 3’’ (USEPA,
2014a). This protocol document
describes the approach implemented by
the agency to evaluate 116 CCL 3
contaminants in a three phase process
and select the contaminants for
preliminary determinations for RD 3.
The protocol underwent expert review
and the comments received were
addressed by the agency.
C. Analyses Used To Support the
Preliminary Regulatory Determinations
Sections III.C.1 and 2 of this action
outline the health effects and
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
occurrence/exposure evaluation process
EPA used to support these preliminary
determinations.
1. Evaluation of Adverse Health Effects
Section 1412(b)(1)(A)(i) of SDWA
requires EPA to determine whether each
candidate contaminant may have an
adverse effect on public health. This
section describes the overall process the
agency uses to evaluate health effects,
hazard and dose-response information,
and the approach for deriving the health
reference level (HRL) for the
contaminants under consideration for
regulatory determinations. HRLs are not
final determinations about the level of a
contaminant in drinking water that must
not be exceeded to protect any
particular population. HRLs are derived
prior to the development of a complete
exposure assessment. HRLs are risk
derived concentrations against which to
evaluate the occurrence data to
determine if contaminants occur at
levels of potential public health
concern. More specific information
about the potential for adverse health
effects for each contaminant is
presented in section IV.B of this action.
In evaluating contaminants for
regulatory determination, Section 1412
(b)(1)(C) of SDWA also requires the
agency to consider among other factors
of public health concern, the effect of
such contaminants upon subgroups that
comprise a meaningful portion of the
general population ‘‘such as infants,
children, pregnant women, the elderly,
individuals with a history of serious
illness, or other subpopulations’’ that
are identifiable as being at greater risk
of adverse health effects compared to
the general population. If appropriate
and if available, the agency
quantitatively takes into account data
from sensitive populations and
lifestages when deriving HRLs for
regulatory determinations.
There are two general approaches to
the derivation of an HRL. One approach
is used for chemicals that cause cancer
and exhibit a linear response to dose
and the other applies to noncarcinogens and carcinogens evaluated
using a non-linear approach. The
derivation of HRLs for carcinogens and
non-carcinogens are described below.
a. Derivation of an HRL for Carcinogens
For those contaminants that are
considered to be likely or probable
human carcinogens by a mutagenic or
unknown mode of action (MOA), the
agency calculates a toxicity value that
defines the relationship between dose
and response (i.e., the cancer slope
factor or CSF).
PO 00000
Frm 00014
Fmt 4701
Sfmt 4702
(1) MOA: Unknown
In cases where the data on the mode
of action are lacking, EPA typically uses
a default low dose linear extrapolation
to calculate a CSF. The unit risk is the
estimated upper-bound excess lifetime
cancer risk from a continuous exposure
to a chemical at a concentration of 0.001
mg/L in drinking water. The exposure
estimate assumes an adult body weight
of 70 kg and the 90th percentile adult
drinking water intake of 2 L/day.
Unit Risk (mg/L)¥1 = CSF × [(DWI ×
CW)/BW]
Where:
CSF = Cancer Slope Factor (mg/kg/day)¥1
DWI = Drinking Water Intake for an adult,
assumed to be 2 L/day (90th percentile)
CW = Unit risk concentration in drinking
water of 0.001 mg/L (1 mg/L)
BW = Body Weight for an adult, assumed to
be 70 kilograms (kg)
The cancer HRL is the concentration of
a contaminant in drinking water
corresponding to an excess estimated
lifetime cancer risk of one-in-a-million
(1 × 10¥6), calculated as follows:
HRL (mg/L) = Risk Level of 10¥6 ÷ Unit
Risk (mg/L)¥1
As noted above, HRLs are not final
determinations about the level of a
contaminant in drinking water that must
not be exceeded to protect any
particular population. Rather, HRLs are
risk derived concentrations against
which to evaluate the occurrence data
during the RD process to determine if
contaminants occur at levels of potential
public health concern.
(2) MOA: Mutagenic
If the chemical has a mutagenic mode
of action, low dose linear extrapolation
is used to calculate the CSF as described
in the preceding paragraph. The U.S.
EPA’s 2005 Guidelines for Carcinogen
Risk Assessment (USEPA, 2005b)
requires that the potential increased
cancer risk due to early-life exposure be
taken into account for chemicals with a
mutagenic mode of action. When
chemical-specific data to quantify the
increased risk are lacking, Age
Dependent Adjustment Factors (ADAFs)
are applied to estimate age-adjusted unit
risks. The age-adjusted unit risk is
determined by using the sum of the unit
risks for each of the three ADAF
developmental groups (birth to <2 yrs;
2 yrs to <16 yrs; 16 yrs to 70 yrs). The
age-adjusted unit risks include a tenfold adjustment for early life (birth to <2
yrs) exposures, a three-fold adjustment
for childhood/adolescent (2 yrs to <16
yrs) exposures, and no additional
adjustment for exposures later in life (16
yrs to 70 yrs), in conjunction with age-
E:\FR\FM\20OCP2.SGM
20OCP2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
specific drinking water intake values
derived from the U.S. EPA’s 2011
Exposure Factors Handbook (USEPA,
2011e), and the fraction of a 70 year
lifetime applicable to each age period.
The increase in risk during early life
results from active tissue growth
resulting in limited time for repair of
DNA replication errors. The ageadjusted unit risk is the upper-bound
excess lifetime cancer risk estimated to
result from continuous postnatal
exposure to a chemical at a
concentration of 0.001 mg/L in drinking
water.
Age-Adjusted Unit Risk (mg/L) ¥1 =
è(CSF × ADAF × DWI/BWR × CW
× F)
Where:
CSF = Cancer Slope Factor (mg/kg/day) ¥1
ADAF = The Age Dependent Adjustment
Factor for the age group birth to twoyears (ADAF = 10), two years to sixteen
years (ADAF = 3), and sixteen to seventy
years (ADAF = 1)
DWI/BWR = Drinking Water Intake Body
Weight Ratio (DWI/BWR) expressed as
liters per kg body weight for the agespecific group (90th percentile,
consumers only) 20
CW = Unit risk concentration in drinking
water of 0.001 mg/L (1 mg/L)
F = The fraction of a 70 year lifetime
applicable to the age period: 2/70 for
birth to two years, 14/70 for two years to
sixteen years and 54/70 for sixteen years
to seventy years
tkelley on DSK3SPTVN1PROD with PROPOSALS2
The cancer HRL is the concentration
of a contaminant in drinking water
corresponding to an excess estimated
lifetime cancer risk of one-in-a-million
(1 × 10¥6), calculated as follows:
HRL (mg/L) = Risk Level of 10¥6 ÷ AgeAdjusted Unit Risk (mg/L) ¥1
The six nitrosamines discussed in
section V had data available to classify
them as known or likely human
carcinogens with a mutagenic mode of
action. Low-dose linear extrapolations
and ADAFs were applied to all four of
the CCL 3 nitrosamines: NDMA, NDPA,
NDEA and NYPR, as well as the two
non-CCL 3 nitrosamines, NMEA and
NDBA. The five contaminants for which
the agency is making preliminary
regulatory determinations (dimethoate,
1,3-dinitrobenzene, strontium, terbufos
and terbufos sulfone) are noncarcinogens and were therefore
evaluated using the RfD approach
(discussed in the following section).
20 The
drinking water intake values were derived
from the data in the U.S. EPA’s Exposure Factors
Handbook (USEPA, 2011e). The procedure used for
the data normalization is described in the OW
Policy paper for determining lifetime cancer risks
involving early life exposures (USEPA, 2012c).
VerDate Sep<11>2014
18:38 Oct 17, 2014
Jkt 235001
b. Derivation of an HRL for NonCarcinogens
EPA generally calculates a reference
dose (RfD) for those chemicals
considered to be non-carcinogenic or
not likely to be carcinogenic to humans.
An RfD is an estimate of a daily oral
exposure to the human population
(including sensitive populations or
lifestages) that is likely to be without an
appreciable risk of deleterious effects
during a lifetime. The RfD can be
derived from either a no-observedadverse-effect level (NOAEL), a lowestobserved-adverse-effect level (LOAEL),
or the 95% lower confidence bound on
a benchmark dose (BMD), known as a
BMDL, with uncertainty factors applied
to reflect limitations of the data used. In
addition, if the critical health endpoint
has high quality data associated with
exposure for a specific developmental
group or period of sensitivity, agespecific drinking water intake to body
weight ratio values from the Exposure
Factors Handbook (USEPA, 2011e) may
be included in deriving an HRL from the
RfD.
The agency uses uncertainty factors
(UFs) to address uncertainty resulting
from incompleteness of the toxicological
database (e.g., lacking sensitive
population data). The individual UFs
(usually applied as integers of one,
three, or ten) are multiplied together
and used to derive the RfD from
experimental data. Individual UFs are
intended to account for:
(1) Variation in sensitivity among the
members of the human population (i.e.,
intraspecies variability);
(2) uncertainty in extrapolating
animal data to humans (i.e., interspecies
variability);
(3) uncertainty in extrapolating from
data obtained in a study with less-thanlifetime exposure to lifetime exposure
(i.e., extrapolating from subchronic to
chronic exposure);
(4) uncertainty in extrapolating from
an LOAEL rather than from an NOAEL;
and/or
(5) uncertainty associated with an
incomplete database.
For chlorate, dimethoate, 1,3dinitrobenzene, strontium,21 terbufos,
and terbufos sulfone, EPA derived the
HRLs using the RfD approach as
follows:
HRL (mg/L) = [(RfD × BW)/DWI] × RSC
Where:
21 Because the critical health endpoint had doseresponse data associated with exposure during a
specific period of sensitivity (i.e., sensitive
population), EPA used age-specific drinking water
intake to body weight ratio values (DWI/BWR) from
the Exposure Factors Handbook (USEPA, 2011e) to
derive the HRL for strontium.
PO 00000
Frm 00015
Fmt 4701
Sfmt 4702
62729
RfD = Reference Dose (mg/kg-day)
BW = Body Weight for an adult, assumed to
be 70 kilograms (kg); for a child,
assumed to be 10 kg
DWI = Drinking Water Intake for an adult,
assumed to be 2 L/day (90th percentile);
for child, assumed to be 1L/day (90th
percentile)
RSC = Relative Source Contribution, or the
level of exposure believed to result from
drinking water when compared to other
sources (e.g., food, ambient air). In all
cases, a 20% RSC is used for HRL
derivation because (1) HRLs are
developed prior to a complete exposure
assessment and (2) 20% is the most
conservative RSC used in the derivation
of an MCLG for drinking water.
c. Sources of Data/Information for
Health Effects
EPA uses the best available peerreviewed data and analyses in
evaluating adverse health effects. Peerreviewed health-risk assessments are
available for all chemicals considered
for regulatory determinations from the
agency’s Integrated Risk Information
System (IRIS) Program, 22 the agency’s
Office of Pesticide Programs (OPP),23
the National Academy of Sciences
(NAS), the Agency for Toxic Substances
and Disease Registry (ATSDR),24 and/or
the World Health Organization
(WHO).25 For a non-EPA health
22 IRIS is an electronic EPA data base
(www.epa.gov/iris/) containing peerreviewed information on human health effects that
may result from exposure to various chemicals in
the environment. These chemical files contain
descriptive and quantitative information on hazard
identification and dose response, RfDs for chronic
noncarcinogenic health effects, as well as slope
factors and unit risks for carcinogenic effects.
23 The OPP is required under the Federal
Insecticide Fungicide and Rodenticide Act (FIFRA)
to periodically review the health effects data on all
registered pesticides and reregister them for
continued use. The results of the reregistration
analysis are published in the Reregistration
Eligibility Decision (RED) documents. Copies of the
REDs are located at the following EPA Web site
(https://www.epa.gov/oppsrrd1/reregistration/
status.htm).
24 ATSDR establishes oral minimal risk levels for
non-neoplastic endpoints for acute (14 days or less),
intermediate (15—364 days), and chronic (365 days
or more) exposure durations. Minimal risk levels for
oral chronic exposure are similar to EPA’s RfDs.
However, ATSDR and EPA use different approaches
when the database is limited to subchronic studies
and no adequate chronic study is available. ATSDR
derives an intermediate duration minimal risk level
that protects against exposures up to 10% of a
lifetime, and it does not incorporate an uncertainty
factor to account for using a less-than-lifetime
study. ATSDR does not perform quantitative cancer
assessments or assign formal cancer classifications
or descriptors.
25 WHO establishes a ‘‘guideline value’’, a
drinking water concentration that uses different
default assumptions than EPA for estimating water
concentration from doses, including a 60 kg adult
body weight, daily water consumption of 2 L/day,
and a data derived or default RSC of 10%. WHO
develops one guideline value that is based either on
cancer or non cancer.
E:\FR\FM\20OCP2.SGM
20OCP2
62730
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
assessment (i.e., NAS, ATSDR, WHO) to
be considered for regulatory
determinations, the health assessment
must use comparable methods,
standards, and guidelines to an EPA
health assessment. Table 6 summarizes
the sources of the health assessment
data for each chemical under
consideration for RD 3.
The agency performs a literature
search for studies published after the
available health assessment is
completed to determine if new
information suggests a different
outcome. The agency collects and
evaluates any peer-reviewed
publications identified through the
literature search for their impact on the
RfD and/or cancer assessment. In cases
where the recent data indicate that a
change to the existing RfD or cancer
assessment is needed, the EPA Office of
Water prepares and independently peerreviews an ‘‘OW Assessment’’ of the
data. EPA updates all quantitative
cancer assessments conducted under the
Guidelines for Carcinogen Risk
Assessment (USEPA, 1986) using the
Guidelines for Carcinogen Risk
Assessment (USEPA, 2005b), the
Supplemental Guidance for Assessing
Susceptibility from Early-life Exposures
to Carcinogens (USEPA, 2005c), and the
Exposure Factors Handbook (USEPA,
2011e). These guidelines include
considerations for contaminants with a
mutagenic mode of action and potential
risks due to early childhood exposure.
TABLE 6—SOURCES AND DATES OF EPA HEALTH RISK ASSESSMENTS
Chemical
IRIS
(date)
OPP RED
(date)
OW Assessment
(date)
Dimethoate .................................................................................................................
1,3-Dinitrobenzene 1 ..................................................................................................
Strontium ....................................................................................................................
Terbufos .....................................................................................................................
Terbufos Sulfone 2 .....................................................................................................
..............................
1988
1992
..............................
..............................
2007
..............................
..............................
2006
2006
..............................
..............................
2012
..............................
..............................
1 The
2 The
agency also reviewed a non-EPA source (ATSDR, 1995) for 1,3-dinitrobenzene to corroborate the IRIS assessment.
OPP RED for the parent compound (terbufos) was used.
As noted in section III.B, EPA
prepared a technical Health Effects
Support Document for strontium
(USEPA, 2014c). This document
addresses the exposure from drinking
water and other media, toxicokinetics,
hazard identification, and dose-response
assessment, and provides an overall
characterization of risk from drinking
water. For the contaminants with a
preliminary negative determination (i.e.,
a decision not to regulate), refer to the
EPA health risk assessments online from
OPP or IRIS for additional health effect
information.
tkelley on DSK3SPTVN1PROD with PROPOSALS2
2. Evaluation of Contaminant
Occurrence and Exposure
EPA uses data from many sources to
evaluate occurrence and exposure from
drinking water contaminants. The
following comprise the primary sources
of finished drinking water occurrence
data discussed in this Federal Register
notice:
• the Unregulated Contaminant
Monitoring Regulation (UCMR 1 and 2),
• the National Inorganic and
Radionuclide Survey (NIRS), and
• Disinfection Byproducts
Information Collection Rule (DBP ICR).
Several of the primary sources of
finished water occurrence data are
designed to be statistically
representative of the nation. These data
sources include UCMR 1, UCMR 2, and
NIRS.26 The DBP ICR is geographically
distributed across the country and
26 NIRS is designed to be statistically
representative of groundwater systems and does not
include surface water systems.
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
national in scope but is not intended to
be statistically representative of the
nation.
The agency also evaluates
supplemental sources of information on
occurrence in drinking water,
occurrence in ambient and source water,
and information on contaminant use
and release to augment and compliment
these primary sources of drinking water
occurrence data. Section III.C.2.a. of this
action provides a brief summary of the
primary sources of finished water
occurrence data, and sections III.C.2.b
and II.C.2.c provide brief summary
descriptions of some of the
supplemental sources of occurrence
information and/or data. These
descriptions do not cover all the reports
that EPA reviews and evaluates. For
individual contaminants EPA reviews
additional published reports and peerreviewed studies that may provide the
results of monitoring efforts in limited
geographic areas. A summary of the
occurrence data and the results or
findings for each of the contaminants
considered for regulatory determination
is presented in section IV.B, the
contaminant profiles section, and the
data are described in further detail in
the support documents for the RD 3
process (see USEPA, 2014a, b, c and d).
a. Primary Sources of Finished Drinking
Water Occurrence Data
As previously mentioned, the primary
national sources of the drinking water
occurrence data discussed in this
Federal Register notice are UCMR 1,
UCMR 2, NIRS, and the DBP ICR. The
following sections provide a brief
PO 00000
Frm 00016
Fmt 4701
Sfmt 4702
summary of these data sources. Table 7
in section IV lists the primary data
source/finding used to evaluate each of
the five contaminants considered for
regulatory determinations. The
contaminant-specific discussions in
section IV provide more detailed
information about the primary data
source findings as well as any
supplemental occurrence information.
(1) The Unregulated Contaminant
Monitoring Regulation (UCMR 1 and
UCMR 2)
The UCMR is currently EPA’s primary
vehicle for collecting monitoring data
on the occurrence of unregulated
contaminants in PWSs. The UCMR is
designed to collect nationally
representative occurrence data and is
developed in coordination with the CCL
and Regulatory Determination process
and the National Drinking Water
Contaminant Occurrence Database
(NCOD). The UCMR sampling is limited
by statute to 30 contaminants during
any five year cycle (SDWA section
1445(a)(2)) and the PWSs and State
primacy agencies are required to report
the data to EPA. EPA published the list
and requirements for the first
Unregulated Contaminant Monitoring
Regulation cycle (i.e., UCMR 1) in
September 17, 1999 (64 FR 50556,
September 17, 1999, USEPA, 1999; see
also 65 FR 11372, March 2, 2000,
USEPA, 2000a; and 66 FR 2273, January
11, 2001, USEPA, 2001a), and the
monitoring was conducted primarily
during 2001–2003. UCMR 2 was
published on January 4, 2007 (72 FR
367; USEPA, 2007a), with monitoring
E:\FR\FM\20OCP2.SGM
20OCP2
tkelley on DSK3SPTVN1PROD with PROPOSALS2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
conducted during 2008–2010. (The
complete analytical monitoring lists are
available at: https://water.epa.gov/
lawsregs/rulesregs/sdwa/ucmr/.)
The UCMR was designed as a threetiered approach for monitoring
contaminants related to the availability
of analytical methods and related
analytical laboratory capacity.
Assessment Monitoring (AM), the
largest sampling tier, typically relies on
analytical methods that are in common
use in drinking water laboratories. The
Screening Survey (SS), the second tier,
uses newly developed analytical
methods that may not be as commonly
used in drinking water laboratories. The
SS has involved a smaller number of
PWSs because laboratory capacity is
expected to be limited. The third tier,
Pre-Screen Testing was designed to
address contaminants with analytical
methods that are in an early stage of
development and the analyses would be
limited to a few special laboratories.
The expectation was that it would only
involve the limited number of systems
determined to be most vulnerable to the
targeted contaminants. No Pre-Screen
Testing was conducted during UCMR 1
or UCMR 2.
EPA designed the AM sampling frame
to ensure that sample results would
support a high level of confidence and
a low margin of error (see USEPA, 1999
and 2001b, for UCMR design details).
AM is required for all large PWSs, those
serving more than 10,000 people (i.e., a
census of all large systems) and a
national statistically representative
sample of 800 small PWSs, those
serving 10,000 or fewer people (for a
total sample of approximately 4,000
systems). PWSs that purchase 100% of
their water were not required to
participate.
Each system conducts UCMR
assessment monitoring for one year
(during the three-year monitoring
period). The rules require quarterly
monitoring for surface water systems
and twice-a-year, six-month interval
monitoring for ground water systems. At
least one sampling event must occur
during a specified vulnerable period.
Differing sampling points within the
PWS may be specified for each
contaminant related to the contaminants
source(s).
The objective of the UCMR sampling
approach for small systems was to
collect contaminant occurrence data
from a statistically selected, nationally
representative sample of small systems.
The small system sample was stratified
and population-weighted, and included
some other sampling adjustments such
as allocating a selection of at least two
systems from each State for spatial
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
coverage. The UCMR AM program
includes systems from all 50 States, the
District of Columbia, four U.S.
Territories, and Tribal lands in five EPA
Regions. With contaminant monitoring
data from all large PWSs—a census of
large systems—and a statistical,
nationally representative sample of
small PWSs, the UCMR AM program
provides a robust dataset for evaluating
national drinking water contaminant
occurrence.
UCMR 1 AM was conducted by
approximately 3,090 large systems and
797 small systems. Approximately
33,800 samples were collected for each
contaminant. In UCMR 2, sampling was
conducted by over 3,300 large systems
and 800 small systems, and resulted in
over 32,000 sample results for each
contaminant.
As noted, in addition to AM, SS
monitoring was required for
contaminants. For UCMR 1, the SS was
conducted at 300 PWSs (120 large and
180 small systems) selected at random
from the pool of systems required to
conduct AM. Samples from the 300
PWSs from throughout the nation
provided approximately 2,300 analyses
for each contaminant. While the
statistical design of the SS is national in
scope, the uncertainty in the results for
contaminants that have low occurrence
is relatively high. Therefore, EPA looked
for additional data to supplement the SS
data for regulatory determinations.
For the UCMR 2 SS, EPA improved
the design to include a census of all
systems serving more than 100,000
people (approximately 400 PWSs—but
the largest portion of the national
population served by PWSs) and a
nationally representative, statistically
selected sample of 320 PWSs serving
between 10,001 and 100,000 people,
and 480 small PWSs serving 10,000 or
fewer people (72 FR 367, January 4,
2007, USEPA, 2007a). With
approximately 1,200 systems
participating in the SS, sufficient data
were generated to provide a confident
national estimate of contaminant
occurrence and population exposure. In
UCMR 2, the 1,200 PWSs provided more
than 11,000 to 18,000 analyses
(depending on the sampling design for
the different contaminants).
As previously noted, the details of the
occurrence data and the results or
findings for each of the contaminants
considered for regulatory determination
is presented in Section IV.B, the
contaminant profiles section, and is
described in further detail in the
support documents for the RD 3 process
(USEPA, 2014a and 2014b). The
national design, statistical sampling
frame, any new analytical methods, and
PO 00000
Frm 00017
Fmt 4701
Sfmt 4702
62731
the data analysis approach for the
UCMR program has been peer-reviewed
at different stages of development (see,
USEPA, 2001b, 2008c, 2014d, for
example.)
(2) National Inorganics and
Radionuclides Survey (NIRS)
EPA conducted the NIRS to provide a
statistically representative sample of the
national occurrence of 36 selected
inorganic compounds (IOCs) and
radionuclides in CWSs served by
ground water. The sample was stratified
by system size and 989 ground water
CWSs were selected at random
representing 49 States (all except
Hawaii) as well as Puerto Rico. The
survey focused on ground water
systems, in part because IOCs tend to
occur more frequently and at higher
concentrations in ground water than in
surface water. Each of the selected
CWSs was sampled at a single time
between 1984 and 1986.
One limitation of the NIRS is a lack
of occurrence data for surface water
systems. EPA also reviews additional
finished water data from State datasets
and other sources, as well as data from
ambient and source surface waters, to
augment the NIRS data. Information
about NIRS monitoring and data
analysis is available in The Analysis of
Occurrence Data from the Unregulated
Contaminant Monitoring (UCM)
Program and National Inorganics and
Radionuclides Survey (NIRS) in Support
of Regulatory Determinations for the
Second Drinking Water Contaminant
Candidate List (USEPA, 2008b).
(3) Disinfection Byproducts Information
Collection Rule (DBP ICR)
The DBP ICR (61 FR 24353, May 14,
1996 (USEPA, 1996)) required PWSs
serving at least 100,000 people to
monitor and collect data on DBPs from
July 1997 to December 1998. The DBP
ICR data were collected from 296 water
systems that provided extensive
information on the occurrence of DBPs
and on water treatment methods. The
DBP ICR data were collected as part of
a national project to support
development of national disinfection
by-products and microbial drinking
water standards. EPA used the data to
identify national and regional patterns
and overall water quality, not to reach
system-by-system or treatment plant-bytreatment plant conclusions. Additional
details on the data collection process for
the DBP ICR, along with an independent
analysis of the data, can be found in a
report sponsored by the Microbial/
Disinfection Products Council (McGuire
et al., 2002).
E:\FR\FM\20OCP2.SGM
20OCP2
62732
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
The DBP ICR provided a census of the
largest systems that serve the largest
proportion of the population served by
PWSs at that time. It has previously
been vetted for use in regulatory
development, and EPA determined it
can be used in the regulatory
determination process.
tkelley on DSK3SPTVN1PROD with PROPOSALS2
b. Supplemental Sources of Finished
Drinking and Ambient Water
Occurrence Data
The agency evaluates several sources
of supplemental information related to
contaminant occurrence in finished
water and ambient and source waters to
augment the primary drinking water
occurrence data. Some of these sources
were part of other agency information
gathering efforts or submitted to the
agency in public comment or suggested
by stakeholders during previous CCL
and Regulatory Determination efforts.
These supplemental data are useful to
evaluate the likelihood of contaminant
occurrence in drinking water and/or to
more fully characterize a contaminant’s
presence in the environment and
potentially in source water, and to
evaluate any possible trends or spatial
patterns that may need further review.
The descriptions that follow do not
cover all the reports that EPA used. For
individual contaminants EPA reviewed
additional published reports and peerreviewed studies that may have
provided the results of monitoring
efforts in limited geographic areas. A
more detailed discussion of the
supplemental sources of information/
data that EPA evaluated and the
occurrence data for each contaminant
can be found in the comprehensive
regulatory determination support
documents (USEPA, 2014a and 2014b).
(1) Individual States’ Data
To support the second Six-Year
Review of regulated contaminants (see
USEPA, 2009b), EPA issued an ICR to
collect compliance monitoring data
from PWSs for the time period covering
1998–2005. After issuing the ICR, EPA
received monitoring data from 45 States
plus Region 8 and Region 9 Tribes. Six
States and Region 9 Tribes also
provided monitoring data for
unregulated contaminants along with
their compliance monitoring data. EPA
further collected additional unregulated
contaminant data from two additional
States that provide monitoring data
through their Web sites. EPA reviews
these datasets during the RD 3 process.
These datasets vary from State to State
in the contaminants included, the
number of samples, and the
completeness of monitoring. They are
reviewed and used to augment the
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
national data and assess if they provide
supportive observations or any unique
occurrence results that might warrant
further review.
(2) Community Water System Survey
(CWSS)
EPA periodically conducts the CWSS
to collect data on the financial and
operating characteristics from a
nationally representative sample of
CWSs. As part of the CWSS, all systems
serving more than 500,000 people
receive the survey. In the 2000 and 2006
CWSS, these very large systems were
asked questions about the occurrence
and concentration of unregulated
contaminants in their raw and finished
water. The 2000 CWSS (USEPA, 2002a,
2002b) requested data from 83 very large
CWSs and the 2006 CWSS (USEPA,
2009c, 2009d) requested data from 94
very large CWSs. Not all systems
answered every question or provided
complete information on the
unregulated contaminants. Because
reported results are incomplete, they are
illustrative, not representative, and are
only used as supplemental information.
(3) United States Department of
Agriculture (USDA) Pesticide Data
Program (PDP)
Since 1991, the USDA PDP has
gathered data on pesticide residues in
food. In 2001 the program expanded to
include sampling of pesticide residues
in treated drinking water, and in 2004
some sampling of raw water was
incorporated as well (USDA, 2004). The
CWSs selected for sampling tend to be
small and medium-sized water surface
water systems (serving under 50,000
people) located in regions of heavy
agriculture. The sampling frame is
designed to monitor in regions of
interest for at least two years to reflect
the seasonal and climatic variability
during growing seasons. PDP works
with EPA and the American Water
Works Association (AWWA) to identify
specific water treatment facilities where
monitoring data are collected. The
number of sites and samples have varied
among different sampling periods. EPA
reviewed the PDP data on the
occurrence of select contaminants in
untreated and treated water (USDA,
2004).
(4) United States Geological Survey
(USGS) Pilot Monitoring Program (PMP)
In 1999, USGS and EPA conducted
the PMP to provide information on
pesticide concentrations in small
drinking water supply reservoirs in
areas with high pesticide use (Blomquist
et al., 2001). The study was undertaken,
in part, to test and refine the sampling
PO 00000
Frm 00018
Fmt 4701
Sfmt 4702
approach for pesticides in such
reservoirs and related drinking water
sources. Sampling sites represent a
variety of geographic regions, as well as
different cropping patterns. Twelve
water supply reservoirs considered
vulnerable to pesticide contamination
were included in the study. Samples
were collected quarterly throughout the
year and at weekly or biweekly intervals
following the primary pesticideapplication periods. Water samples
were collected from the raw water
intake and from the finished drinking
water prior to entering the distribution
system. At some sites, samples were
also collected at the reservoir outflow.
(5) United States Geological Survey
(USGS) National Water Quality
Assessment (NAWQA)
The USGS instituted the National
Water Quality Assessment (NAWQA)
program in 1991 to examine ambient
water quality status and trends in the
United States. The NAWQA program is
designed to apply nationally consistent
methods to provide a consistent basis
for comparisons over time nationally
and among significant watersheds and
aquifers across the country. These
occurrence assessments serve to
facilitate interpretation of natural and
anthropogenic factors affecting national
water quality. The NAWQA program
monitors the occurrence of chemicals
such as pesticides, nutrients, VOCs,
trace elements, and radionuclides, and
the condition of aquatic habitats and
fish, insects, and algal communities. For
more detailed information on the
NAWQA program design and
implementation, please refer to Leahy
and Thompson (1994), Hamilton et al.
(2004), and NRC (2002).
The NAWQA program has been
designed in ten-year cycles to enable
national coverage that can be used for
trends and causal assessments. In the
Cycle 1 monitoring period, which was
conducted from 1991 through 2001,
NAWQA collected data from over 6,400
surface water and 7,000 ground water
sampling points. Cycle 2 monitoring
covers the period from 2002 through
2012, with various design changes from
Cycle 1 (see Hamilton et al., 2004).
EPA, with the cooperation of USGS,
performed a summary analysis of all
Cycle 1 water monitoring data for the
CCL 3 and Regulatory Determination
process. The surface water data
consisted of stream samples; all surface
water data were included in the EPA
summary analysis. For ground water, all
well data were used and data from
springs and drainage systems were
excluded.
E:\FR\FM\20OCP2.SGM
20OCP2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
For RD 3, EPA used and evaluated
many USGS NAWQA reports to review
causal or spatial factors that USGS may
have presented in their interpretations.
In particular, EPA evaluated many
reports from the Pesticide National
Synthesis Programs (e.g., Gilliom et al.,
2007) and the VOC National Synthesis
(e.g., Delzer and Ivahnenko, 2003).
While there is overlap in the data used
in the USGS reports and the EPA
analysis, the USGS reports can provide
unique observations related to their
synthesis of additional data.
For RD 3, EPA also supplemented
these data with information from recent
special USGS reports that also used
additional data from other programs,
particularly reports that focused on
contaminant occurrence in source
waters for PWSs, such as: Organic
Compounds in Source Water of Selected
Community Water Systems (Hopple et
al., 2009 and Kingsbury et al., 2008),
and Water Quality in Public-Supply
Wells (Toccalino et al., 2010).
tkelley on DSK3SPTVN1PROD with PROPOSALS2
(6) Storage and Retrieval (STORET) Data
System
EPA’s STORET database contains raw
biological, chemical, and physical data
from surface and ground water sampling
conducted by Federal, State and local
agencies, Indian Tribes, volunteer
groups, academics, and others. A wide
variety of data relating to water quality
from all 50 States as well as multiple
territories and jurisdictions of the
United States are represented in this
data system. These are primarily
ambient water data, but in some cases
they include finished drinking water
data. STORET data have quality
limitations. There are few restrictions
on submission of data based on
analytical methods, quality assurance
(QA) practices, etc. For more general
STORET data information, please refer
to: https://www.epa.gov/storet/
index.html. EPA reviewed STORET
ground water data from wells and
surface water data from lakes, rivers/
streams, and reservoirs.
c. Supplemental Production, Use and
Release Data
The agency reviews various sources of
information to assess if there are
changes or trends in a contaminant’s
production, use, and release that may
affect its presence in the environment
and potential occurrence in drinking
water. The cancellation of a pesticide or
a clear increase in production and use
of a contaminant are trends that can
inform the regulatory determination
process. A more detailed discussion of
the supplemental sources of
information/data that EPA evaluated
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
and the occurrence data for each
contaminant can be found in the
comprehensive regulatory
determination support documents
(USEPA, 2014a and 2014b). Several
sources are described in more detail
below.
(1) Chemical Update System/Inventory
Update Rule (CUS IUR)
The IUR regulation requires
manufacturers and importers of certain
chemical substances, included on the
Toxic Substances Control Act (TSCA)
Chemical Substance Inventory, to report
site and manufacturing information and
the amount of chemicals produced or
imported in amounts of 25,000 pounds
or more at a single site. Additional
information on domestic processing and
use must be reported for chemicals
produced or imported in amounts of
300,000 pounds or more at a single site.
Prior to the 2003 TSCA Amendments
(i.e., reporting from 2002 or earlier),
information was collected for only
organic chemicals that were produced
or imported in amounts of 10,000
pounds or more, and was limited to
more basic manufacturing information
such as production volume. Because of
changes in reporting rules,
contaminants may have reports for some
years but not others (USEPA, 2010a).
(2) Toxic Release Inventory (TRI)
EPA established the Toxics Release
Inventory (TRI) in 1987 in response to
Section 313 of the Emergency Planning
and Community Right-to-Know Act
(EPCRA). EPCRA Section 313 requires
facilities to report to both EPA and the
States annual information on toxic
chemical releases from facilities that
meet reporting criteria. The TRI
database details not only the types and
quantities of toxic chemicals released to
the air, water, and land by facilities, but
also provides information on the
quantities of chemicals sent to other
facilities for further management
(USEPA, 2002c, 2003b). Currently, for
most chemicals the reporting thresholds
are 25,000 pounds for manufacturing
and processing and 10,000 pounds for
use. Both the number and type of
facilities required to report has
increased over time.
Although TRI can provide a general
idea of release trends, it has limitations
because of the reporting changes over
time. Finally, TRI data are meant to
reflect ‘‘releases’’ and should not be
used to estimate general public
exposure to a chemical (USEPA, 2002c).
(3) Pesticide Usage Estimates
For the regulatory determinations
process, the agency reviews various
PO 00000
Frm 00019
Fmt 4701
Sfmt 4702
62733
sources of information about pesticide
usage. SDWA directs EPA to consider
pesticides in the CCL process. Pesticide
use and manufacturing information is
considered confidential business
information and therefore, accurate
measures of production and use are not
publically available. As a result, the
agency reviews various estimates of use
as supplemental information in the
deliberative process.
Occasionally, EPA presents
estimations of annual U.S. usage of
individual pesticides in its pesticide
reregistration documents (e.g.,
Reregistration Eligibility Decisions or
(REDs), Interim Reregistration Eligibility
Decisions (IREDs), Tolerance
Reassessment Progress and Risk
Management Decisions (TREDs)). EPA
also periodically issues Pesticides
Industry Sales and Usage reports. The
reports provide contemporary and
historical information on U.S. pesticide
production, imports, exports, usage, and
sales, particularly with respect to dollar
values and quantities of active
ingredient. The most recent report
presents data from the years 2000 and
2001 (USEPA, 2004).
The National Center for Food and
Agricultural Policy (NCFAP), a private
non-profit institution, has also produced
national pesticide use estimates based
on USDA State-level statistics and
surveys for commercial agriculture
usage patterns and State-level crop
acreage. The database contains estimates
of pounds applied and acres treated in
each State for 220 active (pesticide)
ingredients and 87 crops. The majority
of the chemicals monitored are
herbicides, but the database also follows
significant numbers of fungicides and
insecticides (NCFAP, 2000).
The USGS produced usage estimates
and maps for over 200 pesticides used
in United States crop production,
providing spatial insight to the regional
use of many pesticides (USGS, 2007).
These pesticide use estimates were
generated by the USGS through Statelevel estimates of pesticide usage rates
for individual crops that were compiled
by the CropLife Foundation and the
Crop Protection Research Institute,
combined with county-level data on
harvested crop acreage obtained from
the 2002 Census of Agriculture.
IV. Contaminant-Specific Discussions
for the RD 3 Preliminary Regulatory
Determinations
A. Summary of the Preliminary
Regulatory Determination
Based on EPA’s evaluation of the
three SDWA criteria (discussed in
section II.B.1), the agency is making
E:\FR\FM\20OCP2.SGM
20OCP2
62734
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
preliminary determinations to regulate
one contaminant and to not regulate
four contaminants. Table 7 summarizes
the primary health and occurrence
information used to make these
preliminary regulatory determinations.
Section IV.B of this notice provides a
more detailed summary of the
information and the rationale used by
the agency to reach its preliminary
decisions for these five contaminants.
TABLE 7—SUMMARY OF THE HEALTH AND OCCURRENCE INFORMATION AND THE PRELIMINARY DETERMINATIONS FOR THE
FIVE CONTAMINANTS CONSIDERED FOR REGULATORY DETERMINATIONS 3
Occurrence findings from primary data sources
PWSs with at
least 1
detection ≥1⁄2
HRL
Population
served by
PWSs with at
least 1
detection ≥1⁄2
HRL
PWSs with at
least 1
detection
≥HRL
Population
served by
PWSs with at
least 1
detection
≥HRL
0% (0 of
4138).
0% (0 of
4137).
0% (0 of
229M).
0% (0 of
229M).
0% (0 of
4138).
0% (0 of
4137).
0% (0 of
229M).
0% (0 of
229M).
Do not regulate.
Do not regulate.
NIRS
14.3% (141 of
989).
16.6% (246K
of 1.5M).
7.0% (69 of
989).
Regulate.
0.35 μg/L
UCMR 1
0% (0 of 295)
0% (0 of 41M)
0% (0 of 295)
10.7%
(158.5K of
1.5M).
0% (0 of 41M)
0.35 μg/L
UCMR 2
0.02% (1 of
4138).
0.01% (44.6K
of 229M).
0.02% (1 of
4138).
0.01% (44.6K
of 229M).
No.
RD 3
contaminants
Health
reference
level
(HRL)
Primary
database
1 .................
Dimethoate ....
15.4 μg/L
UCMR 2
2 .................
0.7 μg/L
UCMR 2
3 .................
1,3Dinitrobenzene.
Strontium .......
1,500 μg/L
4 .................
Terbufos ........
5 .................
Terbufos
Sulfone.
B. Contaminant Profiles
This section provides further
information on the background, health,
and occurrence data that the agency
uses to evaluate each of the five
candidate contaminants considered for
regulatory determinations. For each
candidate, the agency evaluates the
available human and toxicological data,
derives a health reference level, and
evaluates the potential and/or likely
occurrence and exposed population for
the contaminant in public water
systems. The agency also considers
whether information is available on
sensitive populations. The agency uses
the findings from these evaluations to
determine whether the three SDWA
statutory criteria are satisfied. The
agency also prepares a regulatory
support document (USEPA, 2014b) that
provides more details on the
background, health, and occurrence
information/analyses used to evaluate
and make preliminary determinations
for these five contaminants.
tkelley on DSK3SPTVN1PROD with PROPOSALS2
1. Dimethoate
a. Background
Dimethoate is an organophosphate
pesticide, commonly used as an
insecticide on field crops (e.g., wheat,
alfalfa, corn, and cotton), orchard crops,
vegetable crops, and in forestry.
Synonyms for dimethoate include
dimethogen, dimeton, dimevur, and
cygon (HSDB, 2009; USEPA, 2007b).
EPA has estimated that the total annual
average domestic use of dimethoate is
approximately 1.8 million pounds
VerDate Sep<11>2014
18:38 Oct 17, 2014
Jkt 235001
(USEPA, 2007b). EPA’s most recent
Pesticide Industry Sales and Usage
reports indicate that the amount of
dimethoate active ingredient (a.i.) used
in the United States was between 1 and
2 million pounds in 1999 and 2001, and
less than 1 million pounds in 2005 and
2007 (USEPA, 2004: USEPA, 2011f). TRI
data from the years 1997 to 2010 show
that annual releases to various sources
range from tens of pounds to tens of
thousands of pounds, with the larger
releases occurring only occasionally and
in no clear pattern (USEPA, 2012a). For
example, reported on-site air emissions
were in the range of tens of pounds for
1997–2005 but increased to the range of
thousands of pounds in 2006–2010. The
only reported non-zero release by
underground injection was in 2004 and
was over 28,000 pounds. Reported onsite releases to surface water and land
were low or non-existent in most years,
but peaked suddenly at nearly 20,000
pounds in 1998 (land) and over 2,000
pounds in 2004 (surface water).
Dimethoate is considered highly mobile
and relatively non-persistent in the
environment (USEPA, 2007b).
b. Statutory Criterion #1 (Adverse
Health Effects)
Dimethoate meets the SDWA statutory
criterion #1 for regulatory
determinations; it may have an adverse
effect on the health of persons.
Dimethoate belongs to a group of
pesticides called organophosphates,
which share a common MOA.
Organophosphates affect the proper
function of the nervous system by
PO 00000
Frm 00020
Fmt 4701
Sfmt 4702
Preliminary
determination
Do not regulate.
Do not regulate.
inhibiting cholinesterase (ChE), an
important enzyme involved in
neurotransmission. Inhibition of ChE in
the brain, plasma, and red blood cells is
the most sensitive endpoint described in
numerous studies with adult and
juvenile animals, following oral, dermal,
or inhalation exposures of dimethoate or
its primary toxic metabolite omethoate
(USEPA, 2007b). As discussed in the
2007 OPP assessment, the U.S. EPA’s
Cancer Assessment Review Committee
(CARC) classified dimethoate as a Group
C carcinogen (a possible human
carcinogen) in 1991, with concurrence
from the FIFRA Scientific Advisory
Panel (SAP) on the agency’s
classification in 1992 (USEPA, 2007b).
The 2007 OPP assessment established
a chronic oral RfD for dimethoate of
0.0022 mg/kg/day based on a 2-year
feeding study in rats with inhibition of
brain ChE as the critical effect (USEPA,
2007b). The RfD was derived using the
BMD method and based on the lower
95% confidence limit (BMDL) of 0.22
mg/kg/day, with application of a
composite UF of 100 (i.e., intraspecies
and interspecies variability). EPA
calculated a non-cancer HRL of 15.4 mg/
L for dimethoate using the RfD of 0.0022
mg/kg/day for a 70 kg adult ingesting 2
L of drinking water per day and an RSC
of 20%. The chronic RfD and
subsequent HRL of 15.4 mg/L for
dimethoate are considered to be
protective of any potential cancer risk or
acute ChE effects (USEPA, 1990a,
2007b). The OPP RED (USEPA, 2007b)
presents more detailed information
E:\FR\FM\20OCP2.SGM
20OCP2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
tkelley on DSK3SPTVN1PROD with PROPOSALS2
about the potential health effects for
dimethoate.
c. Statutory Criterion #2 (Occurrence at
Frequency and Levels of Public Health
Concern)
Dimethoate does not meet the SDWA
statutory criterion #2 for regulatory
determinations; it does not occur with a
frequency and at levels of public health
concern in public water systems based
on EPA’s evaluation of the following
occurrence information.
The primary data for dimethoate are
recent (2008–2010) nationallyrepresentative drinking water
monitoring data, generated through
EPA’s UCMR 2. Dimethoate was not
detected in any of the 32,013 UCMR 2
samples collected by 4,138 PWSs
(serving ∼ 230 million people) at levels
greater than the 1⁄2 HRL (7.7 mg/L), the
HRL (15.4 mg/L), or the MRL (0.7 mg/L)
(USEPA, 2014d).
The State of California reported
results from testing more than 20,000
finished drinking water samples from
over 2,000 PWSs and dimethoate was
detected in two samples from two
different PWSs. The detected
concentrations (1 mg/L and 2 mg/L) were
less than the 1⁄2 HRL (7.7 mg/L) and the
HRL (15.4 mg/L) (see USEPA, 2014b).
The USDA PDP monitored for
dimethoate in finished water from 2001
to 2009 and had only two detections in
3,555 samples; both detected
concentrations were less than the 1⁄2
HRL and the HRL (USDA, 2012). The
USGS PMP monitored for dimethoate in
finished water in 1999 and had no
detections greater than 1⁄2 the HRL or
the HRL in any of the 221 samples
(Blomquist et al., 2001).
Dimethoate occurrence data for
ambient water are consistent with those
for finished drinking water. The USGS
PMP also monitored for dimethoate in
ambient water in 1999 and had no
detections greater than the 1⁄2 HRL (7.7
mg/L) or the HRL (15.4 mg/L) in any of
the 317 samples (Blomquist et al., 2001).
Ambient water data from a two-phase
USGS study conducted between 2002
and 2005 by Hopple et al. (2009) and
Kingsbury et al. (2008) reported no
detections in the 221 Phase 1
groundwater samples. Only two
detections were reported from 146
Phase 1 surface water samples at nine
PWSs. The highest concentration
detected was 0.009 mg/L, which is less
than the 1⁄2 HRL and the HRL. In Phase
2, there were no detections of
dimethoate from 48 raw and finished
water groundwater samples (Hopple et
al., 2009; Kingsbury et al., 2008).
Ambient water data in STORET
included no measured results above
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
0.44 mg/L in 5,299 samples from 798
sites (USEPA, 2012b). Ambient water
data reported by the California
Department of Pesticide Regulation
included no measured results above 2.4
mg/L (USEPA, 2007b).
d. Statutory Criterion #3 (Meaningful
Opportunity)
EPA finds that dimethoate does not
meet the SDWA statutory criterion #3
for regulatory determinations; regulation
of dimethoate does not present a
meaningful opportunity health risk
reduction for persons served by PWSs
based on the estimated exposed
population, including sensitive
populations. The estimated population
exposed to dimethoate at levels of
public health concern is 0%; it was not
found to occur at levels above the HRL
(or the 1⁄2 HRL) in 4,138 PWSs and
32,013 samples from the UCMR 2
monitoring. In addition, other
supplementary sources of finished water
and ambient water data indicate that the
occurrence of dimethoate in PWSs is
likely to be low to non-existent. As a
result, the agency finds that an NPDWR
for dimethoate does not present a
meaningful opportunity for health risk
reduction.
EPA also evaluated whether health
information is available regarding the
potential health effects on children and
other sensitive populations. The
database for dimethoate includes a 3generation reproductive study in mice,
developmental (teratology) studies in
rats and rabbits, and a
neurodevelopmental toxicity study
(USEPA, 1990a, 2007b). The critical
effect of ChE inhibition is a more
sensitive endpoint compared to the
reproductive and developmental
endpoints (USEPA, 2007b); therefore no
sensitive populations were identified or
characterized. The OPP RED (USEPA,
2007b) presents more detailed
information about the potential health
effects and sensitive populations for
dimethoate.
e. Preliminary Regulatory Determination
The agency is making a preliminary
determination to not regulate
dimethoate with an NPDWR after
evaluating health, occurrence, and other
related information against the three
SDWA statutory criteria. While data
suggests that dimethoate may have an
adverse effect on human health, the
occurrence data indicate that
dimethoate is not occurring or not likely
to occur in PWSs with a frequency and
at levels of public health concern.
Therefore, the agency finds that an
NPDWR would not present a
meaningful opportunity to reduce
PO 00000
Frm 00021
Fmt 4701
Sfmt 4702
62735
health risk for persons served by PWSs.
The Regulatory Determinations 3
Support Document (USEPA, 2014d) and
the Occurrence Data from the Second
Unregulated Contaminant Monitoring
Regulation (UCMR 2) (USEPA, 2014a)
present additional information and/or
analyses supporting the agency’s
evaluation of dimethoate.
2. 1,3-Dinitrobenzene
a. Background
1,3-Dinitrobenzene is a nitro aromatic
compound that is used as an industrial
chemical and formed as a by-product in
the manufacture of munitions as well as
in the production of other substances
(HSDB, 2009). There are no known
natural sources of 1,3-dinitrobenzene.
Annual production and importation of
1,3-dinitrobenzene in the United States
was last reported by CUS–IUR in 1986
to be between 10–50 million pounds
(USEPA, 2010b). TRI data indicate
19,858 pounds were released to the
environment by industry in 2008 and
10,595 pounds in 2010 (USEPA, 2012a).
1,3-dinitrobenzene appears to be
moderately persistent in environmental
media and moderately mobile in soil
and water, though in soils with high
clay content it will be less mobile
(USEPA, 2014b).
b. Statutory Criterion #1 (Adverse
Health Effects)
1,3-dinitrobenzene meets the SDWA
statutory criterion #1 for regulatory
determinations; it may cause adverse
effect on the health of persons. 1,3dinitrobenzene has demonstrated
adverse health effects in many rodent
and occupational studies. Occupational
studies indicate that
methemoglobinemia, hemolytic anemia,
and cyanosis are seen in workers who
experience an acute reaction to 1,3dinitrobenzene (Hajjar et al., 1992). The
EPA IRIS assessment (USEPA, 1990b) of
the carcinogenicity of 1,3dinitrobenzene currently lists it as
Group D (not classifiable as to human
carcinogenicity).
The primary adverse biological effects
from exposure to 1,3-dinitrobenzene are
on red blood cells, spleen, and testes.
The RfD for 1,3-dinitrobenzene is 0.0001
mg/kg/day (Cody et al., 1981). The RfD
was derived from a NOAEL of 0.4 mg/
kg/day in a subchronic oral study in rats
where increased spleen weight was
identified as the critical effect (Cody et
al., 1981). A composite UF of 3,000
(intraspecies variability, interspecies
variability, subchronic to chronic
duration, and lack of chronic,
developmental, and multigenerational
reproductive toxicity studies) was
E:\FR\FM\20OCP2.SGM
20OCP2
62736
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
tkelley on DSK3SPTVN1PROD with PROPOSALS2
applied to the NOAEL to obtain the RfD.
EPA calculated a non-cancer HRL of 0.7
mg/L for 1,3-dinitrobenzene using the
RfD of 0.0001 mg/kg/day for a 70 kg
adult ingesting 2 L of drinking water per
day and an RSC of 20%.
The current EPA oral RfD value is
supported by a more recent 1,3dinitrobenzene assessment that was
conducted by ATSDR, in which an oral
intermediate duration minimal risk
level of 0.0005 mg/kg/day for splenic
hemosiderosis in male rats was
established using a LOAEL of 0.54 mg/
kg/day (Linder et al., 1986; dose
adjusted for a 7-day/week exposure) and
a composite UF of 1,000 (intraspecies
variability and interspecies variability,
LOAEL to NOAEL). Based on EPA
assumptions and a composite UF of
3,000 (intraspecies variability,
interspecies variability, LOAEL to
NOAEL and subchronic to chronic
duration) applied to the LOAEL of 0.54
mg/kg/day, the resultant HRL value of 1
mg/L supports the HRL value of 0.7 mg/
L derived from the IRIS RfD (ATSDR,
1995). The IRIS assessment (USEPA,
1990b) presents more detailed
information about the potential health
effects for 1,3-dinitrobenzene.
c. Statutory Criterion #2 (Occurrence at
Frequency and Levels of Public Health
Concern)
1,3-dinitrobenzene does not meet the
SDWA statutory criterion #2 for
regulatory determinations; it does not
occur with a frequency and at levels of
public health concern in public water
systems based on EPA’s evaluation of
the following occurrence information.
The primary data for 1,3dinitrobenzene are recent (2008–2010)
nationally-representative drinking water
monitoring data generated through
EPA’s UCMR 2 (USEPA, 2014d). UCMR
2 is the only dataset with finished water
data for this contaminant. UCMR 2
collected 32,017 samples from 4,137
PWSs and 1,3-dinitrobenzene was not
detected above the MRL (0.8 mg/L),
which is only slightly higher than the
HRL (0.7 mg/L).
Findings from the available ambient
water data for 1,3-dinitrobenzene are
consistent with the results in finished
water. Ambient water data in STORET
included no measured results above
0.33 mg/L in 143 samples from 70 sites
(USEPA, 2012b). It should be noted that
some occurrence above the HRL may
have gone undetected since reporting
levels are not documented.
d. Statutory Criterion #3 (Meaningful
Opportunity)
EPA finds that 1,3-dinitrobenzene
does not meet the SDWA statutory
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
criterion for regulatory determinations;
regulation of 1,3-dinitrobenzene does
not present a meaningful opportunity
for health risk reduction for persons
served by PWSs based on the estimated
exposed population, including sensitive
populations. The estimated population
exposed to 1,3-dinitrobenzene at or
above the MRL is 0%; it was not found
to occur in finished drinking water at
levels > MRL (0.8 mg/L), which is only
slightly higher than the HRL (0.7 mg/L),
in 32,017 samples and 4,137 PWSs from
the UCMR 2 monitoring. As a result, the
agency finds that an NPDWR for 1,3dinitrobenzene does not present a
meaningful opportunity for health risk
reduction.
EPA also evaluated whether
information is available regarding the
potential health effects on children and
other sensitive populations. Individuals
with a genetic predisposition to
methemoglobinemia (estimated
prevalence in the general population =
1% or 1 per 100) and/or hemosiderosis,
neonates, and those co-exposed to other
hemolytic agents, could be more
sensitive to exposure to 1,3dinitrobenzene (ATSDR, 1995; Jaffe and
Hultquist, 1989). Males having sperm
production complications could also
have increased sensitivity to 1,3dinitrobenzene exposure (Hajjar et al.,
1992). There is currently no
multigenerational animal study
available for 1,3-dinitrobenzene, and no
data available from studies of 1,3dinitrobenzene developmental toxicity
(Hajjar et al., 1992). However, the RfD
incorporated a UF for this database
deficiency. The IRIS assessment
(USEPA, 1990b) presents more detailed
information about the potential health
effects and sensitive populations for 1,3dinitrobenzene.
e. Preliminary Regulatory Determination
for 1,3-dinitrobenzene
The agency is making a preliminary
determination to not regulate 1,3dinitrobenzene with an NPDWR after
evaluating health, occurrence, and other
related information against the three
SDWA statutory criteria. While data
suggest that 1,3-dinitrobenzene may
have an adverse effect on human health,
the occurrence data indicate that 1,3dinitrobenzene is not occurring or not
likely to occur in PWSs with a
frequency and at levels of public health
concern. Therefore, the agency has
determined that an NPDWR for 1,3dinitrobenzene would not present a
meaningful opportunity to reduce
health risk for persons served by PWSs.
The Regulatory Determinations 3
Support Document (USEPA, 2014b) and
the Occurrence Data from the Second
PO 00000
Frm 00022
Fmt 4701
Sfmt 4702
Unregulated Contaminant Monitoring
Regulation (UCMR 2) (USEPA, 2014d)
present additional information and
analyses supporting the agency’s
evaluation of 1,3-dinitrobenzene.
3. Strontium
a. Background
Strontium is a naturally occurring
element (atomic number 38) and a
member of the alkaline earth metals
(ANL, 2007). There are several
radioactive strontium isotopes formed
by nuclear fission of uranium or
plutonium. The best known is 90Sr, a
legacy from above ground testing of the
atomic bomb (half-life 29 years). Since
drinking water contamination by
radioactive isotopes, including beta
particle emitters, is covered under the
existing radionuclides rule, this FR
notice deals primarily with the stable
88Sr isotope which represents 83% of
total environmental strontium (ATSDR,
2004).
Strontium mineral mining ceased in
the United States in 1959. The United
States imports both strontium minerals
for refining and refined strontium
containing compounds (USGS, 2009).
Imports of strontium minerals and
compounds were approximately 31,000
to 38,500 metric tons from 1994 to 2001
and have declined since 2001 (ATSDR,
2004; USGS, 2009). In the United States,
total consumption of strontium minerals
and compounds was 16,700 metric tons
of strontium content in 2004 and
approximately 7,750 metric tons in 2008
(USGS, 2009).
Historically, the most important
commercial use of strontium has been in
the faceplate glass of cathode-ray tube
televisions to block x-ray emissions
(ATSDR, 2004). Conversely, flat panel
televisions incorporating LCD or Plasma
displays are not capable of emitting xradiation; therefore, they do not require
strontium (FDA, 2011). As flat panel
technology has become widespread in
the United States in the last decade,
demand for strontium for this
application has fallen (USGS, 2009). In
2008, approximately 30% of commercial
strontium consumption was in
pyrotechnics and signals (as strontium
nitrate and other compounds), 30% in
ferrite ceramic magnets (as strontium
ferrite), 10% in master alloys (as
strontium metal), 10% in pigments and
fillers (as strontium chromate), 10% in
electrolytic production of zinc (as
strontium carbonate), and 10% in other
applications such as fluorescent lights
(strontium phosphate), toothpaste
(strontium chloride), and medicines
(strontium chloride and strontium
peroxide). The feed material for most
E:\FR\FM\20OCP2.SGM
20OCP2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
tkelley on DSK3SPTVN1PROD with PROPOSALS2
applications is strontium carbonate
(ATSDR, 2004; HSDB, 2010; USGS,
2009). Strontium can exist in oxidation
states 0 and +2; under normal
environmental conditions it is found in
the +2 oxidation state in various ionic
or salt forms. Strontium is considered to
have moderate or moderate-to-low
mobility in soils. The mobility of
strontium in water can increase with
increased salt concentrations due to a
decrease in sorption to sediments
(USEPA, 20104b). The Regulatory
Determination 3 Support Document
(USEPA, 2014b) for this notice presents
more detailed background information
on strontium.
b. Statutory Criterion #1 (Adverse
Health Effects)
Strontium meets the SDWA statutory
criterion #1 for regulatory
determinations; it may have an adverse
effect on the health of persons. The
primary target of strontium exposure is
the bone. The chemical similarity of
strontium to calcium allows it to
exchange imperfectly for calcium in a
variety of biological processes; the most
important of these is the substitution of
calcium in bone, affecting skeletal
development. Due to the MOA for
strontium toxicity, strontium uptake
into bone is affected by the intake of
nutrients related to bone formation,
such as calcium, phosphorous, and
vitamin D (Clarke, 2008; Grynpas and
Marie, 1990; Marie et al., 1985). The
decreased calcification in bones results
in increased width of the epiphyseal
cartilage, changes in the pattern of
calcification, abnormally long
metaphyses, reduction in bone
mineralization, and active osteoclasts in
young rats (Marie and Hott, 1986;
Matsumoto, 1976; Neufeld and Boskey,
1994; Storey, 1961). Due to this effect on
growing bones, infants, children, and
adolescents are of particular concern as
a sensitive population.
A study based on decreased bone
calcification rate in male weanling rats
(i.e., comparable to the sensitive time
period in humans), which administered
strontium chloride in drinking water for
nine weeks (Marie et al., 1985), was
identified by EPA as the critical study
for RfD determination. The RfD was
established by using the BMD method
and based on the lower 95% confidence
limit (BMDL) of 328 mg/kg/day for a one
standard deviation decrease in bone
calcification compared to control. Using
a composite UF of 1000 (10 for
intraspecies variability, 10 for
interspecies variability, and 10 for
database uncertainties) the RfD for
strontium is calculated to be 0.3 mg/kg/
day. This RfD is supported by additional
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
studies reporting bone effects on
weanling rats at similar dose levels
(Grynpas and Marie, 1990; Storey,
1961). EPA calculated a non-cancer HRL
of 1500 mg/L for strontium using the RfD
of 0.3 mg/kg/day, a default RSC of 20%
and age-specific exposure factors (i.e.,
drinking water intake expressed as liters
per kg of body weight) for the sensitive
population of birth through 18 years to
reflect the most active period of bone
growth and development (see section
IV.B.10.d.3).
EPA released an IRIS assessment for
strontium in 1992 and developed an RfD
of 0.6 mg/kg/day based on the Storey,
1961 study. The IRIS assessment was
completed before the 1998 changes to
the IRIS program wherein the agency
develops and peer reviews a detailed
Toxicological Review before posting an
IRIS summary. The point of departure
for the 1992 IRIS RfD of 0.6 mg/kg/day
is a NOAEL of 190 mg Sr/kg-day with
a composite UF of 300 (10 for
interspecies variability, 3 for
intraspecies variability, and 10 for
database uncertainties). This would
yield an HRL of 3000 mg/L, using the
same age-specific exposure adjustment
factors described above. If the agespecific exposure adjustment factors
were not used, the HRL would be 2000
mg/L based on the OW assessment, or
4000 mg/L based on the IRIS assessment.
As noted in section III.C.1.c, EPA
evaluates the existing data and performs
a literature search for studies published
after the available health assessment is
completed to determine if new
information suggests a different
outcome. In cases where the review
suggests that a change the existing RfD
or cancer assessment is needed, the EPA
Office of Water prepares and
independently peer-reviews an OW
Assessment of the data. In the case of
strontium and because newer
information provided additional
support for the 1985 Marie et al. study,
EPA chose to use the BMDL of 328 mg/
kg/day from Marie et al., (over the 1961
Storey study) for the following reasons:
(a) Marie et al., (1985) reported the
doses rather than estimated the doses;
(b) the study duration was longer (63
days for Marie as compared to 20 days
for Storey); (c) the monitoring of the
bone effects for Marie et al., (1985) was
more quantitative than the
photomicrographs evaluated by Storey
(1961); (d) dosing was provided via
drinking water, the medium of interest
(rather than a weakly soluble SrCO3 in
the diet); (e) Marie et al., (1985) reported
the strain of rats and the age of the
animals, at the time that dosing was
initiated and completed; (f) the data
were amenable to dose-response
PO 00000
Frm 00023
Fmt 4701
Sfmt 4702
62737
modeling to identify the BMD and
BMDL; and (g) the dietary calcium
provided in the Storey study was three
times higher than that in the Marie
study, making those rats less at risk due
to the calcium and strontium
competition for uptake, as verified by a
comparison of serum data from the two
studies. The OW assessment uses a 10x
uncertainty factor for intraspecies
variability, rather than the 3x factor
used in the 1992 IRIS assessment
because it is not clear if the window of
vulnerability was adequately captured,
since the weanling rats were exposed
only for 28–63 days, a period that did
not include exposure during gestation,
lactation, and through young adulthood.
EPA requests comment on its revised
RfD calculation and on its proposal to
use the OW assessment in lieu of the
RfD from the 1992 IRIS assessment.
There is inadequate information to
assess the carcinogenic potential of
strontium due to the lack of adequate
studies of chronic duration. The Health
Effects Support Document (USEPA,
2014c) for this determination presents
more detailed analysis of the health
effects of strontium.
c. Statutory Criterion #2 (Occurrence at
Frequency and Levels of Public Health
Concern?)
Strontium meets the SDWA statutory
criterion #2 for regulatory
determinations; it does occur with a
frequency and at levels of public health
concern in public water systems based
on EPA’s evaluation of the following
occurrence information.
EPA used the National Inorganics and
Radionuclides Survey (NIRS) (USEPA,
2008b) as the primary data source to
evaluate the occurrence of strontium in
PWSs. It provides contaminant
occurrence data from 989 CWSs served
by ground water sources. Each of these
randomly selected PWSs was sampled a
single time between 1984 and 1986. Of
the 989 systems in NIRS, 980 (99%) had
detectable levels of strontium ranging
from 1.53 to 43,550 mg/L. The mean
concentration was 603 mg/L.
Approximately 7.0% (69 of 989) of the
NIRS PWSs detected strontium at a level
greater than the HRL (1500 mg/L) and
14.3% (141 of 989) detected strontium
at a level greater than 1⁄2 HRL (750 mg/
L). Extrapolated by the total number of
ground water CWSs found nationally,
this represents 2,798 and 5,718
groundwater CWSs that could have
strontium at a level greater than the HRL
and the 1⁄2 HRL, respectively. These
figures are summarized in Table 8
(USEPA, 2014b).
E:\FR\FM\20OCP2.SGM
20OCP2
62738
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
TABLE 8—ESTIMATES OF POPULATION EXPOSED TO STRONTIUM, OBSERVED AND EXTRAPOLATED FROM NIRS
National Inorganics and Radionuclides Survey
(NIRS)
Threshold
Extrapolation of NIRS data to groundwater
systems nationwide
Systems
tkelley on DSK3SPTVN1PROD with PROPOSALS2
As a point of reference to the earlier
IRIS assessment, if EPA used the HRL
derived from this assessment of 3000
mg/L, 30/989 systems (3%) would have
finished water samples that exceed the
HRL using the NIRS data, compared to
69/989 (7%) using the HRL of 1500 mg/
L derived from the more recent OW
assessment.
Finished water data, analyzed
between 1998 and 2005, from Ohio and
Illinois are also consistent with the
NIRS data. The State of Illinois reported
results from testing 21 drinking water
samples from 19 PWSs and strontium
was detected in all 21 samples (100%)
from all 19 systems (100%).
Approximately 23.8% (5 of 21) of
samples from five systems (26.3%) had
strontium at levels greater than the 1⁄2
HRL (750 mg/L) and approximately
23.8% (5 of 21) of samples from five
systems (26.3%) had strontium at levels
greater than the HRL (1500 mg/L)
(USEPA, 2012b). The State of Ohio
reported results from testing 77 samples
from 32 PWSs and strontium was
detected in 75 samples (97.4%) from 30
different systems (93.8%).
Approximately 27.3% (21 of 77) of
samples from 10 systems (31.3%) had
strontium at levels greater than the 1⁄2
HRL and approximately 23.4% (18 of
77) of samples from seven systems
(21.9%) had strontium at levels greater
than the HRL (USEPA, 2014b).
Although there are limited surface
water data available for strontium, the
available data are consistent and
demonstrate high occurrence in surface
waters. Ambient water data for
strontium are also consistent with high
occurrence in finished water, which is
expected since it is a naturally occurring
element. The NAWQA Quality of Public
Supply Wells (Toccalino et al., 2010)
study collected water samples from
source (untreated) groundwater public
supply wells in 41 states. Each well was
sampled once from 1993–2007 and
100% of samples (503 of 503) had a
strontium detection. Of the detections,
25.1% (126 of 503) were above the 1⁄2
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
99.9%
(1.481M of 1.482M)
99.1%
(39.7K of 40.1K)
99.9%
(93.0M of 93.1M)
16.6%
(246K of 1.5M)
14.3%
(5.7K of 40.1K)
16.6%
(15.4M of 93.1M)
7.0%
(69 of 989)
Systems detecting strontium above the HRL
(>1500 μg/L) .................................................
Population
14.3%
(141 of 989)
Systems detecting strontium above one half
the HRL (>750 μg/L) ....................................
Systems
99.1%
(980 of 989)
Systems with Detectable Concentrations ........
Population
10.7%
(159K of 1.5M)
7.0%
(2.8K of 40.1K)
10.7%
(10.0M of 93.1M)
HRL (750 mg/L) and 12.1% (61 of 503)
were above the HRL (1500 mg/L).
Additional occurrence information on
strontium can be found in the
Regulatory Determinations 3 Support
Document (USEPA, 2014b).
d. Statutory Criterion #3 (Meaningful
Opportunity?)
EPA makes a preliminary finding that
strontium meets the SDWA statutory
criterion #3 for regulatory
determinations; regulation of strontium
in drinking water presents a meaningful
opportunity for health risk reduction
based on the estimated exposed
population, potential impacts on
sensitive populations and estimated
exposure from other sources (e.g., food).
1. National Population Exposed: In
the NIRS dataset 989 ground water
systems were sampled serving a
population of 1.48 million. The NIRS
data indicates that the population
exposed to strontium at a level greater
than the HRL (1500 mg/L) is 158,557
(11%) and the 1⁄2 HRL (750 mg/L) is
245,870 (17%) (USEPA, 2012b). EPA
also performed national extrapolations
generated by multiplying the NIRS
findings of system/population
percentages and the national system/
population inventory numbers for PWSs
developed from EPA’s Safe Drinking
Water Information System, the CWSS,
and UCMR. Out of the 93.1 million
people served by 40,106 ground water
CWSs in the nation, the national
extrapolation indicates that 10.0 million
may be exposed to concentrations
greater than the HRL (1500 ug/L) and
15.4 million may be exposed to
concentrations greater than the 1⁄2 HRL
(750 ug/L). The system and population
estimates are summarized in Table 8.
Strontium occurs naturally and is
abundant in the environment. Its
occurrence in water at concentrations
>HRL may be a reflection of the geologic
and geochemical setting of the source
waters for PWSs. The NIRS drinking
water data showed that strontium was
detected in one or more systems
PO 00000
Frm 00024
Fmt 4701
Sfmt 4702
sampled in all 48 continuous states,
Alaska and Puerto Rico (Hawaii was not
included in NIRS). The occurrence data
(e.g., NIRS) show that PWSs with
strontium at concentrations greater than
the HRL and the 1⁄2 HRL occur in 26
states and 34 states, respectively
(USEPA, 2014b).
2. Exposure from media other than
water: EPA has determined that there is
a meaningful opportunity to regulate
strontium in drinking water to reduce
the public’s overall exposure after
evaluating the available exposure data
from media other than water. Although
strontium is known to occur in food, air,
and soil, data on levels in those media
are limited as are estimates of intake
from those sources. Therefore, EPA used
the default 20% RSC to calculate the
HRL. This section provides a summary
of the available exposure data.
An FDA Total Diet Study by
Pennington and Jones (1987) collected
234 individual foods in 1984 from three
cities in one region of the country and
indicated dietary intakes of 493 mg/day
for young children (6 to 11 months), 928
to 1,388 mg/day for 14 to 16 year old
adolescents, and 979–1,489 mg/day for
adults. The FDA Total Diet Study foods
are prepared with distilled water and do
not reflect any contributions from the
cooking water during preparation of
foods that absorb water such as rice and
pasta. Thus, the strontium in many
foods will be impacted by the strontium
levels in the local water supply. Using
the mean of the detected water
concentrations from the NIRS dataset
(603 mg/L), the estimated water intake
for young children (90th percentile
water intake of 1L/day) is 603 mg/day
and 1,206 mg/day for adults (90th
percentile water intake of 2L/day). The
estimated strontium intakes from air
and soil are very low compared with
those from food and drinking water. The
estimated air exposure for children is
0.1 mg/day and for adults is 0.3 mg/day
(Dzubay and Stevens, 1975). The
estimated exposure from soil is 24 mg/
day for children and 12 mg/day for
E:\FR\FM\20OCP2.SGM
20OCP2
tkelley on DSK3SPTVN1PROD with PROPOSALS2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
adults (Shacklette and Boerngen, 1984).
No data were identified on consumer
products, such as toothpaste that
contain strontium as an ingredient or
impurity.
3. Sensitive populations: Children are
expected to be a sensitive population,
since they are actively growing and
strontium can substitute for calcium in
growing bone. This means that changes
in bone structure and homeostasis may
have more severe and/or a long-term
impact than similar changes in adults.
These effects would be expected to have
the greatest impact during periods of
rapid growth in the developing fetus,
during childhood and adolescence,
particularly if their calcium intake is
insufficient (Abrams et al., 2000; Lee et
al., 1996; Matkovic et al., 2005; Storey,
1961). The estimated populations of
pregnant women (and thus fetuses) and
of children (<17 years old) are 6 and 75
million, respectively (O’Day et al.,
1998). The RfD was based on changes in
bone growth in weanling rats (i.e., the
sensitive population). As a result, the
data do not include the risk during
prenatal development and lactation so
these factors were considered when
selecting the UFs used to derive the RfD.
Age-specific exposure factors (USEPA,
2012c) were also used to reflect the
sensitive population (birth through 18
years) in derivation of the HRL.
Exposures from drinking water at or
below the HRL (1500 mg/L) are expected
to be protective of the sensitive
population, assuming that 80% of
exposure comes from other sources such
as air, soil and food.
The toxic effects of strontium result
from strontium ions substituting for
calcium ions, therefore calcium
deficiency would be expected to result
in increased risk among sensitive
populations. In this respect, it is
important to note that recent NHANES
data indicate that about 50% of females,
nine years and older, fail to receive
adequate calcium from diet and
supplements on a daily basis (IOM,
2010). Groups with higher risks of
becoming calcium deficient include:
Adolescent girls, postmenopausal
women, amenorrheic women, female
athletes, vegans, and individuals with
lactose intolerance or cow’s milk
allergies (IOM, 2010; NIH, 2011a).
The major route of elimination of
strontium is via the kidneys, therefore
individuals with impaired renal
function are another sensitive
population. This population may
potentially have impaired strontium
clearance, as has been shown in renal
failure patients. There are
approximately 20 million people (10%)
above the age of 20 with chronic kidney
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
62739
disease (CDC, 2010) and 548,000 people
with kidney end-stage renal disease
(USRDS, 2010), who may be at an
increased risk. People with disorders
affecting the normal equilibrium
between the breakdown of old bone and
the formation of new bone (such as
Paget’s disease) might also be sensitive
to strontium exposure (D’Haese et al.,
1999, 2000; Schrooten et al., 1998, 2003;
Tothill et al., 1983). According to the
National Institute of Arthritis and
Musculoskeletal and Skin Diseases,
there are approximately 1 million
people (1.2 people per 100 men and
women age 45 to 74) diagnosed with
Paget’s disease of the bone (NIH, 2011b).
The Health Effects Support Document
(USEPA, 2014c) for strontium presents
more detailed information about the
potential health effects and sensitive
populations. Because the RfD includes
an uncertainty factor of 10 for
intraspecies variability, the RfD is also
expected to be protective of these
sensitive populations.
detailed analyses needed to develop a
national primary drinking water
regulation. To inform the agency, the
EPA plans to conduct more extensive
field testing of treatment technologies to
assess the effectiveness of strontium
removal in PWSs prior to promulgating
a national primary drinking water
regulation. Thus a decision to regulate
is the beginning of the agency’s
regulatory development process, not the
end. As the agency collects additional
information about drinking water and
other sources of exposure (and performs
more detailed analyses), this
information will inform the agency’s
opinion as to whether strontium should
be regulated. The agency asks the public
to submit any data or information that
may be useful in evaluating drinking
water and other sources of exposure
(e.g., food, food prepared in drinking
water, air, soil, etc.).
d. Preliminary Regulatory
Determination
At this time, the agency is making a
preliminary determination to regulate
strontium with an NPDWR after
evaluating the available health,
occurrence, and other related
information against the three SDWA
statutory criteria. Specifically, it is
EPA’s preliminary determination that
(a) strontium may have an adverse effect
on the health of persons, (b) it is known
to occur or there is substantial
likelihood that strontium will occur in
public water systems with a frequency
and at levels of public health concern,
(c) regulation of strontium with an
NPDWR presents a meaningful
opportunity to reduce health risks for
persons served by PWSs.
It is important to note that the agency
included strontium in UCMR 3. As of
January 2014, a preliminary analysis
(USEPA, 2014e) of the first nine months
of the UCMR 3 monitoring data indicate
that 4.9% (70 of 1,423) of systems, 3.8%
(175 of 4,547) of entry points, and 3.9%
(274 of 7,061) of samples have detects
of strontium at levels greater than the
HRL of 1500 mg/L. While EPA believes
the occurrence data from NIRS (in
concert with the supplemental
information discussed earlier) are
sufficient to make the regulatory
determination, the agency believes the
additional monitoring results from
UCMR 3 will assist EPA in making the
final regulatory determination for
strontium and in developing the
proposed NPDWR. As noted in section
III.A.3, this regulatory determination
process is distinct from the more
Terbufos is a phosphorodithioate
pesticide (i.e., an organophosphate)
used as an insecticide-nematicide to
control a variety of insect pests,
primarily used on corn and sugar beets
(USEPA, 2006c). Terbufos sulfone is a
degradate of terbufos. EPA’s most recent
Pesticide Industry Sales and Usage
report states that between 5 and 7
million pounds of terbufos active
ingredient were used in 1999 and
between 3 and 5 million pounds of
active ingredient were used in 2001
(USEPA, 2004). There are no industrial
release data available for terbufos from
TRI. As a pesticide degradate, terbufos
sulfone is neither produced nor used
commercially. Total toxic residues of
terbufos and degradates are highly
mobile and persistent in the
environment, with terbufos sulfone
being more mobile and substantially
more persistent than terbufos (USEPA,
2006c).
PO 00000
Frm 00025
Fmt 4701
Sfmt 4702
4 and 5. Terbufos and Terbufos Sulfone
a. Background
b. Statutory Criterion #1 (Adverse
Health Effects?)
Terbufos and its degradate, terbufos
sulfone, meet the SDWA statutory
criterion #1 for regulatory
determinations; they may cause an
adverse effect on the health of persons.
Terbufos and terbufos sulfone belong to
a group of pesticides called
organophosphates, which share a
common mechanism of toxicity.
Organophosphates affect the proper
function of the nervous system by
inhibiting ChE, an essential enzyme in
neurotransmission. There has been no
evidence that terbufos is carcinogenic in
animal studies (Rapp, 1974; Silverman
E:\FR\FM\20OCP2.SGM
20OCP2
62740
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
tkelley on DSK3SPTVN1PROD with PROPOSALS2
et al., 1986) and it is classified as a class
D carcinogen (inadequate evidence of
carcinogenicity) (USEPA, 1988).
Overall, health effects information for
the terbufos sulfone degradate is
lacking; there are no long-term studies
or cancer classification for terbufos
sulfone.
The 2006 OPP RED assessment
(USEPA, 2006c) established an oral RfD
for terbufos of 0.00005 mg/kg/day,
derived from the NOAEL of 0.005 mg/
kg/day for ChE inhibition in the 28-day
and 1-year dog studies by Shellenberger
(1984) and Shellenberger and Billups
(1986). A composite UF of 100
(interspecies and intraspecies
variability) was applied to the NOAEL
to obtain the RfD. EPA calculated a noncancer HRL of 0.35 mg/L for terbufos
using the RfD of 0.00005 mg/kg/day for
a 70 kg adult ingesting 2 L of drinking
water per day and an RSC of 20%. The
agency has not developed an RfD for
terbufos sulfone because subchronic and
chronic studies are not available.
However, Bailey (1988) conducted a 14day study of both terbufos and its
sulfone degradate in dogs. The NOAEL
based on ChE activity for terbufos
sulfone was greater than the LOAEL of
2.5 mg/kg/day for the same endpoint
following 14-day dosing with the parent
compound terbufos. This suggests that
the terbufos sulfone degradate is less
toxic than its parent, and that the use of
the terbufos HRL of 0.35 mg/L for the
degradate, terbufos sulfone, is
acceptable. The OPP RED (USEPA,
2006c) presents more detailed
information about the health effects for
terbufos and terbufos sulfone.
c. Statutory Criterion #2 (Occurrence at
frequency and levels of public health
concern?)
Terbufos and terbufos sulfone do not
meet the SDWA statutory criterion #2
for regulatory determinations; they do
not occur with a frequency and at levels
of public health concern in public water
systems based on EPA’s evaluation of
the following occurrence information.
The primary data for terbufos sulfone
are nationally-representative finished
water monitoring data generated
through EPA’s UCMR 2 (2008–2010)
(USEPA, 2014d). UCMR 2 collected
32,012 finished water samples from
4,138 PWSs (serving ∼ 230 million
people) and terbufos sulfone was
detected in only one sample, at a
concentration of 0.42 mg/L. The MRL
was 0.4 mg/L, which is slightly higher
than the HRL (0.35 mg/L) (USEPA,
2012d). The primary data for terbufos
are from the UCMR 1 screening survey
(2001–2003) (USEPA, 2008c). The
UCMR 1 screening survey collected
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
2,301 finished water samples from 295
PWSs. Terbufos was not detected at
levels at or above the MRL (0.5 mg/L),
which is slightly higher than the HRL
(0.35 mg/L) (USEPA, 2008c). Finished
water data for terbufos and terbufos
sulfone from California, Iowa, USDA,
and USGS are also consistent with the
UCMR 1 and UCMR 2 data. The State
of California reported no detections of
terbufos in 191 samples from 23 PWSs
(see USEPA, 2014b). The State of Iowa
reported no detections of terbufos
sulfone from 13 wells (see USEPA,
2014b). The USDA PDP monitored for
terbufos (2,597 samples) and terbufos
sulfone (2,923 samples) in finished
water from 2001 to 2009 and reported
no detections at or above method
reporting levels ranging from 0.005 mg/
L to 0.1 mg/L (USDA, 2012: USEPA,
2014b). The USGS PMP monitored for
terbufos in finished water in 1999 and
reported no detections, at or above their
method reporting level of 0.013 mg/L
(Blomquist et al., 2001).
Terbufos and (very limited) terbufos
sulfone occurrence data for ambient
water from EPA, STORET, and several
USGS programs or studies are consistent
with those for finished water. The USGS
NAWQA Program (1992–2001) reported
no groundwater detections above the 1⁄2
HRL (0.175 mg/L) or the HRL (0.35 mg/
L) for terbufos in 20,960 samples at
7,118 sites. NAWQA reported surface
water detections for terbufos in 28 of
14,480 samples (0.19%) at 20 of 1,907
sites (1.05%). Of the 28 surface water
detections for terbufos, only four
samples (0.03%) at four sites (0.21%)
were above the 1⁄2 HRL and only one
sample (0.01%) at one site (0.05%) was
above the HRL (Gilliom et al., 2007).
The NAWQA Carbonate Aquifer Study
(1993–2005; Lindsey et al., 2008) and
the NAWQA Domestic Well Water
Quality Study (1991–2004; DeSimone,
2009) reported no detections for
terbufos above the 1⁄2 HRL or the HRL
in 1,027 and 2,539 samples,
respectively. The NAWQA National
Synthesis Program (1992–2001) reported
no groundwater detections for terbufos
above the 1⁄2 HRL or the HRL and one
surface water detection (0.56 mg/L), from
agricultural sites, above the HRL
(Gilliom et al., 2007).
Ambient water data from a two phase
USGS study conducted between 2002
and 2005 by Hopple et al. (2009) and
Kingsbury et al. (2008) reported no
terbufos detections in the 221 Phase 1
groundwater samples nor the 146 Phase
1 surface water samples. In Phase 2,
there were no detections of terbufos
from 48 raw and 48 finished
groundwater samples. Ambient water
data from a USGS study conducted
PO 00000
Frm 00026
Fmt 4701
Sfmt 4702
between 1993 and 2007 by Toccalino et
al. (2010) reported no terbufos
detections in 898 groundwater samples.
Terbufos ambient data reported in
EPA’s OPP RED for Terbufos (USEPA,
2006c) document included 20
detections in 4,563 groundwater
samples from 13 States. The detections
ranged from 0.01 to 20 mg/L, a range that
extends both above and below the 1⁄2
HRL (0.175 mg/L) and the HRL (0.35 mg/
L). The USGS PMP monitored for
terbufos in ambient water in 1999 and
reported no detections (Blomquist et al.,
2001).
Terbufos ambient data are reported in
STORET from 17 States (USEPA,
2012b). No groundwater detections were
reported in 699 samples at 441 sites.
STORET reported surface water
detections in 457 of 5,826 samples
(7.84%) at 138 of 625 sites (22.1%). Of
the 457 surface water detections, only
23 samples (0.39%) at 14 sites (2.24%)
were above the 1⁄2 HRL and only two
samples (0.03%) at two sites (0.32%)
were above the HRL.
d. Statutory Criterion #3 (Meaningful
Opportunity?)
Terbufos and terbufos sulfone do not
meet the SDWA statutory criterion #3
for regulatory determinations; regulation
of terbufos and terbufos sulfone do not
present a meaningful opportunity for
health risk reduction based on the
estimated population exposed,
including sensitive populations. The
estimated population exposed to
terbufos at or above the MRL is 0%; the
compound was not found to occur in
finished water at levels greater than or
equal to the MRL (0.4 mg/L), which is
slightly higher than the HRL (0.35 mg/L),
in 2,301 samples from 295 PWSs in
UCMR 1 (USEPA, 2008c). The estimated
population exposed to terbufos sulfone
at a level of public health concern
(based on the HRL for terbufos) is
44,600 (0.02% of the population served
by PWSs); there was only one detection
greater than the HRL in 4,138 PWSs (1
of 32,012 samples in UCMR 2) (USEPA,
2014d). As a result, the agency finds
that an NPDWR does not present a
meaningful opportunity for health risk
reduction.
EPA also evaluated whether health
information is available regarding the
potential health effects on children and
other sensitive populations.
Developmental studies with terbufos in
rats and rabbits did not find any
developmental effects (USEPA, 2003c).
There are no data on reproductive and
developmental effects for terbufos
sulfone. No sensitive populations were
identified or characterized. The OPP
RED (USEPA, 2006c) presents more
E:\FR\FM\20OCP2.SGM
20OCP2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
detailed information about the potential
health effects and sensitive populations
for terbufos and terbufos sulfone.
e. Preliminary Regulatory Determination
The agency is making preliminary
determinations to not regulate terbufos
and terbufos sulfone with NPDWRs after
evaluating health, occurrence, and other
related information against the three
SDWA statutory criteria. While the data
suggests that terbufos and terbufos
sulfone may have adverse effects on
human health, the occurrence data
indicate there is no substantial
likelihood that terbufos or terbufos
sulfone will occur in PWSs with a
frequency and at levels of public health
concern. Therefore, the agency finds
that NPDWRs for terbufos and terbufos
sulfone would not present meaningful
opportunities to reduce health risk for
persons served by PWSs. The
Regulatory Determinations 3 Support
Document (USEPA, 2014b) presents
additional information and/or analyses
supporting the agency’s evaluation of
terbufos and terbufos sulfone.
tkelley on DSK3SPTVN1PROD with PROPOSALS2
V. What is the Status of the Agency’s
Evaluation of Chlorate and
Nitrosamines?
The agency will review the existing
MDBP regulations as part of the SY3.
Because chlorate and nitrosamines are
DBPs that can be introduced or formed
in public water systems partly because
of disinfection practices, the agency
believes it is important to evaluate these
unregulated DBPs in the context of the
review of the existing DBP regulations.
DBPs need to be evaluated collectively,
because the potential exists that the
chemical disinfection used to control a
specific DBP could affect the
concentrations of other DBPs. Therefore,
the agency is not making a regulatory
determination for chlorate and
nitrosamines at this time. The agency
expects to complete the review of these
DBPs by the end of 2015.
A. Chlorate
The following sections provide the
background, health and occurrence
information/data that the agency has
collected to date for chlorate. If the
public has any additional health and
occurrence information that may be
useful as the agency evaluates chlorate
in the context of the existing MDBP
rules, please provide this information to
the docket.
1. Background
The chlorate anion (ClO3¥) forms a
variety of salts (e.g., sodium chlorate,
calcium chlorate, potassium chlorate,
and magnesium chlorate) collectively
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
known as chlorates, which are powerful
oxidizers. Chlorate compounds
(especially sodium chlorate) are used as
herbicides and to generate chlorine
dioxide (ClO2) as a bleaching agent
(USEPA, 2006a). Disinfection practices
are the most important source of
chlorate in drinking water; this includes
formation as a DBP from use of chlorine
dioxide and its presence in hypochlorite
disinfectants as an impurity (USEPA,
2006a).
Chlorate can be formed during
decomposition of hypochlorite (ClO¥)
solutions, which are used as a
disinfectant and/or oxidant in water
treatment. Hypochlorite solutions that
are more aged are generally less
effective and require higher doses to
achieve the treatment (disinfection)
objectives, which can result in more
chlorate to be introduced into the
chlorinated water. In addition to being
a DBP (along with chlorite) formed from
the use of chlorine dioxide as a
disinfectant, chlorate ion may also be
present as an impurity in the chlorine
dioxide (Gates et al., 2009; USEPA,
2006a). Chlorate can also form by the
reaction of chlorite with free chlorine
applied as a residual disinfectant in the
distribution system (Gallagher et al.,
1994). In addition, chlorite can be
oxidized by a strong oxidant (such as
ozone) to produce chlorate in the water
(von Gunten, 2003). Chlorate salts
readily dissolve in water and are highly
mobile because of the absence. In the
absence of redox reactions, the chlorate
ion would be expected to partition
predominantly into water and to be
highly mobile in water. However, under
most environmental conditions chlorate
is subject to redox reactions, which are
expected to reduce the concentration of
chlorate in the water column (USEPA,
2006a).
2. Health Effects Information
Acute ingestion of high levels of
sodium chlorate has resulted in acute
kidney failure and hemolysis among
other effects based on numerous case
reports of individuals accidently
ingesting high levels of chlorate
compounds (USEPA, 2006b; WHO,
2005). A population-based case-control
study of chlorate as a DBP at
concentrations >200 mg/L identified
significantly increased odds ratios for
obstructive urinary defects, cleft palate,
and spina bifida (Righi et al., 2012). The
median chlorate exposure for the study
population was 280 mg/L. In a casecontrol study of the same population in
Italy, Aggazzotti et al. (2004) found no
association between preterm births and
exposure to chlorate.
PO 00000
Frm 00027
Fmt 4701
Sfmt 4702
62741
The animal studies provide clear and
consistent evidence that subchronic and
chronic exposure to chlorate results in
effects on blood and thyroid.
Subchronic studies in rats have reported
decreased hemoglobin, hematocrit, and
red blood cell (RBC) counts (AbdelRahman et al., 1984; Barrett, 1987;
McCauley et al., 1995) and thyroid
colloid depletion, follicular cell
hypertrophy and hyperplasia (Hooth et
al., 2001).
A chronic study based on increased
thyroid gland follicular cell hypertrophy
in male rats (NTP, 2005a) was identified
as the critical study for establishing an
RfD of 0.03 mg/kg/day (USEPA, 2006b).
The RfD was derived by using the BMD
method and based on the lower 95%
confidence limit (BMDL) of 28 mg/L as
sodium chlorate (22 mg/L as chlorate),
corresponding to 0.9 mg/kg/day
(USEPA, 2006b), with a composite UF of
30 for intraspecies (i.e., sensitive
populations) and interspecies variability
(i.e., thyroid hormone differences
between humans and rats). EPA
calculated a non-cancer HRL of 210 mg/
L for chlorate using the RfD of 0.03 mg/
kg/day for a 70 kg adult ingesting 2 L
of drinking water per day and an RSC
of 20%.
A cancer risk assessment was not
conducted for chlorate because sodium
chlorate is classified as not likely to be
carcinogenic to humans at doses that do
not alter thyroid hormone homeostasis
under the USEPA (2005b) Cancer
Guidelines. The RfD is protective
against acute alterations in thyroid
homeostasis and therefore considered to
also be protective of tumorigenicity as
well as other chronic and subchronic
adverse health effects discussed in the
literature (Hooth et al., 2001; Khan et
al., 2005; NTP, 2005a).
EPA also evaluated whether health
information is available regarding
sensitive populations. According to the
OPP RED, there was no pre- or postnatal
sensitivity or susceptibility observed in
the submitted developmental studies in
rats and rabbits or the 2-generation
reproduction study in rats. However,
there is a concern for developing
offspring because of the effects of
inorganic chlorate on thyroid function
in rats (USEPA, 2006a). Chlorate is one
of a number or inorganic ions that may
interfere with iodine uptake by the
thyroid, but chlorate is not highly
potent in this respect (Van Sande et al.,
2003).
Chlorate may also cause hemolysis,
thus persons with low red blood cell
counts such as those with anemia may
be particularly sensitive to sodium
chlorate. Data from the 1994 National
Health Interview Survey (O’Day et al.,
E:\FR\FM\20OCP2.SGM
20OCP2
62742
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
1998) indicate that there were about 5
million people in the U.S. who suffered
from some form of anemia. About 3 to
5% of the population may have an
inherited glucose-6-phosphate
dehydrogenase (G6PD) deficiency, with
males more sensitive than females
(Luzzatto and Mehta, 1989), and about
1% may have a form of hereditary
methemoglobinemia (Jaffe and
Hultquist, 1989). Each one of these
conditions is a contributor to low red
blood cell counts within the population.
Individuals co-exposed to other ions
that decrease iodine uptake by the
thyroid or have low RBC counts may be
more sensitive to chlorate exposure.
3. Occurrence Data and Information
a. Drinking Water
The 1997–1998 DBP ICR is currently
the best available data source for
characterizing the national occurrence
baseline for chlorate. The DBP ICR,
which included monitoring data for 296
water systems serving 100,000 people or
more (representing a total population of
130 million), required water systems
that use hypochlorite solutions or
chlorine dioxide for disinfection to
monitor for chlorate (USEPA, 1996).
Subsequently, 82 water systems serving
approximately 40 million people
monitored and reported chlorate
occurrence under the DBP ICR (using an
MRL of 20 mg/L). Table 9 presents the
number and percentage of samples and
systems (along with the population
served) that measured chlorate at levels
exceeding the specified threshold
concentrations (i.e., HRL and 1⁄2 HRL).
These samples were associated with
41.5% (34 of 82) of the ICR systems
using hypochlorite solutions or chlorine
dioxide for disinfection and 11.5% (34
of 296) of all of the ICR systems. EPA
assumes there was no occurrence of
chlorate among the ICR systems that
were not required to monitor for it,
since they use disinfection techniques
not expected to produce chlorate.
Approximately 51.1% (878 of 1,719) of
ICR samples from the finished water or
distribution system of the systems
required to monitor had chlorate at
levels greater than the 1⁄2 HRL (105 mg/
L) and 19.3% (332 of 1,719) had
chlorate at levels greater than the HRL
(210 mg/L). The samples greater than the
1⁄2 HRL were associated with 73.2% (60
of 82) of the ICR systems using
hypochlorite solutions or chlorine
dioxide for disinfection and 20.3% (60
of 296) of all ICR systems (including
those that were not required to monitor
for chlorate). The samples greater than
the HRL were associated with 41.5% (34
of 82) of the ICR systems using
hypochlorite solutions or chlorine
dioxide for disinfection and 11.5% (34
of 296) of all ICR systems (including
those that were not required to monitor
for chlorate) (McGuire et al., 2002).
Since the DBP ICR was completed in
1998, these data likely underestimate
current (2012) chlorate occurrence
among the systems serving 100,000
people or more for the following two
reasons: (1) Some of these systems may
have changed the disinfectant type from
chlorine gas to chlorine dioxide for
compliance with the existing Stage 1 or
Stage 2 DBP rules; and/or (2) some
systems may have switched from
chlorine gas to hypochlorite solution
due to a security concern (i.e., a concern
of safety of transportation and storage
for chlorine gas). Disinfection surveys
conducted by the AWWA Disinfection
Systems Committee in 1998 and 2007
have confirmed that chlorine dioxide
and hypochlorite use has increased
(AWWA Disinfection Systems
Committee, 2008a, 2008b; Connell et al.,
2000a, 2000b).
TABLE 9—SUMMARY OF CHLORATE MONITORING RESULTS UNDER THE DBP ICR
Of DBP ICR PWSs that monitored for chlorate,
samples and PWSs with at least one detection
> threshold *
Of all DBP ICR PWSs, PWSs with at least
one detection > threshold and estimated population served **
Chlorate threshold
Number (percentage)
of DBP ICR samples
with detection >
threshold
Number (percentage)
of DBP ICR PWSs
with at least one detection > threshold
Number (percentage)
of DBP ICR PWSs
with at least one detection > threshold *
Population served by
DBP ICR PWSs with
at least one detection
> threshold **
HRL (210 μg/L) ................................................
332 of 1,719
(19.3%)
878 of 1,719
(51.1%)
34 of 82
(41.5%)
60 of 82
(73.2%)
34 of 296
(11.5%)
60 of 296
(20.3%)
11.8 of 130 million
(9.1%)
31.7 of 130 million
(24.4%)
⁄ HRL (105 μg/L) ...........................................
12
tkelley on DSK3SPTVN1PROD with PROPOSALS2
* 82 PWSs that used hypochlorite or chlorine dioxide were required to monitor for chlorate during the DBP ICR monitoring period, based on
their potential to form chlorate. Number and percentage of samples and PWSs are based on those 82 PWSs that monitored for chlorate.
** The number and percentage of PWSs and population served > threshold is based on all 296 systems. EPA assumes that the 214 systems
not required to monitor do not have chlorate concentrations above the thresholds.
Finished water data for chlorate from
California collected between 2001 and
2007 show lower occurrence compared
to the DBP ICR. The State of California
reported results from testing more than
1,200 drinking water samples from 45
PWSs and chlorate was detected in 945
samples (78.4%) from 24 different
systems (53.3%) (Ranalli, B., 2013).
Approximately 41.6% (501 of 1,205) of
samples from 17 systems (37.8%) had
chlorate at levels greater than the 1⁄2
HRL (105 mg/L) and approximately
12.4% (149 of 1,205) of samples from 10
systems (22.2%) had chlorate at levels
greater than the HRL (210 mg/L) (Ranalli,
B., 2013).
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
It is important to note that the agency
included chlorate in the UCMR 3, which
is currently in process. UCMR 3 will
provide a national dataset of chlorate
occurrence in drinking water and will
update the occurrence data provided by
the DBP ICR.
Ambient water data for chlorate are
limited, but chlorate could be present in
areas where it is used as an herbicide or
discharged from paper plants where it is
used as a bleaching agent. Since
chlorate is a DBP, higher concentrations
are expected in finished water than in
ambient water.
PO 00000
Frm 00028
Fmt 4701
Sfmt 4702
b. Exposure from media other than
water
There is very little quantitative
information available on the occurrence
of chlorate in food, air, and soil or other
products resulting in residential
exposures. Without reliable estimates of
intakes, it is not possible to estimate the
contribution of drinking water to total
exposure. However, based on modeling
results, the agency estimated that the
chlorate intake from food (as a result of
sodium chlorate use as a pesticide) for
the overall population is approximately
3 mg/kg-day, with somewhat higher
intakes for children under five years old
E:\FR\FM\20OCP2.SGM
20OCP2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
of approximately 5 to 8 mg/kg-day
(USEPA, 2006a). Additional food
exposure from use of sanitizing
solutions in food preparation plants
(e.g., equipment and contact surfaces)
and processing (e.g., bleaching agent)
may also be a source of exposure (21
CFR section 178.1010). Intake for adults
from dietary supplements containing
chlorate may range from 0.001 to 0.29
mg/kg-day.
tkelley on DSK3SPTVN1PROD with PROPOSALS2
B. Nitrosamines Group (6 Nitrosamines)
The following sections provide the
background, health and occurrence
information/data that the agency has
collected to date for nitrosamines. If you
have any additional health and
occurrence information that may be
useful as the agency evaluates
nitrosamines in the context of the
regulatory review of existing MDBP
rules, please provide this information to
the docket.
1. Background
Nitrosamines are a class of nitrogencontaining organic compounds that
share a common nitrosamino functional
group (HSDB, 2010). EPA included five
nitrosamine compounds on the CCL 3:
N-nitrosodimethylamine (NDMA), Nnitrosodiethylamine (NDEA), Nnitrosodi-n-propylamine (NDPA), Nnitrosopyrrolidine (NPYR), and Nnitrosodiphenylamine (NDPhA). EPA
monitored six nitrosamines under
UCMR 2 using EPA Analytical Method
521, four of which are CCL 3
compounds (i.e., NDMA, NDEA, NDPA,
NPYR), and two non-CCL 3
nitrosamines [i.e., Nnitrosomethylethylamine (NMEA) and
N-nitrosodi-n-butylamine (NDBA)]. The
fifth CCL 3 nitrosamine compound,
NDPhA, was not monitored under
UCMR 2 due to lack of a reliable
analytical method. Although other
nitrosamines (e.g., N-nitrosomorpholine,
N-nitrosopiperidine) have been
identified in finished water (Mitch et
al., 2009), they were also not included
in UCMR 2 for similar analytical
reasons. The nitrosamines from the
UCMR 2 thus comprise the list of six
nitrosamines that moved forward to the
data evaluation phase of regulatory
determination and are the focus of the
information that follows below.
All six nitrosamines may be produced
in small quantities for research
purposes, but only one (NDEA) is
currently produced commercially in the
United States. NDEA is used as an
additive in gasoline and in lubricants, as
an antioxidant, and as a stabilizer in
plastics, though no data are available
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
about quantities used (HSDB, 2010).
NDMA was once used in the production
of rocket fuel, as a solvent, and as a
rubber accelerator. It was also used or
proposed for use as an antioxidant, an
additive for lubricants, and a softener
for copolymers (ATSDR, 1989). There
are no production data on any of the
nitrosamine compounds from EPA’s
Inventory Update Reporting (IUR)
program.
NDMA can be formed as an
unintended byproduct of manufacturing
processes that involve the use of nitrite
or nitrate and amines, including
tanneries, fish processing plants,
foundries, and pesticide, dye, rubber or
tire manufacturing plants (ATSDR,
1989). Nitrosamines have been found in
tobacco products, cured meats, ham,
bacon, beer, whiskey, fish, cheese,
soybean oil, toiletries, household
cleaners, pesticides, rubber baby bottle
nipples and pacifiers (ATSDR, 1989;
Drabik-Markiewicz et al., 2009; Fine et
´
al., 1977; NTP, 2011; Perez et al., 2008;
¨
Yurchenko and Molder, 2007).
NDMA is commonly present in
municipal sewage sludge (ATSDR,
1989). NPYR has also been detected in
municipal sewage sludge (HSDB, 2010).
ATSDR (1989) cites several studies
indicating that nitrosamine formation in
sewage sludge appears to be the result
of biological and chemical
transformation of alkylamines in the
presence of nitrite. In addition,
nitrosamines may form in air, soil,
water, sewage, food, animal systems and
other media where precursors (e.g.,
amines and nitrite) are present (HSDB,
2010). NDMA can be produced
endogenously in humans from the
interaction of nitrates and nitrites with
amines in the stomach (Mirvish 1975,
1992; Tricker et al., 1994).
As described in the following
occurrence section, nitrosamines in
finished water are commonly
considered as DBPs because most of the
literature indicates that the main source
of nitrosamines in finished water is
associated with water treatment,
particularly from disinfection with
chloramines. NDMA is the predominant
species of nitrosamines found in
finished water; other nitrosamines are
detected less frequently. Based on their
physical and chemical properties, the
nitrosamines appear to be moderately to
very mobile in the environment (the
exception being NDBA, which is of low
mobility). The nitrosamines are subject
to a variety of removal mechanisms
when present in soil and water,
including volatilization (particularly
PO 00000
Frm 00029
Fmt 4701
Sfmt 4702
62743
NDMA), photodegradation, and
microbial degradation, although the
rates and extent of biodegradation are
highly variable (HSDB, 2010).
2. Health Effects Information
As the more thoroughly studied
nitrosamine compared to the other
nitrosamine compounds, NDMA
provides epidemiological case-control
and other evidence that human
nitrosamine exposure is associated with
an increased risk of several types of
cancer, including cancer of the stomach,
esophagus, oral cavity, and pharynx (La
Vecchia et al., 1995; Larsson et al., 2006;
Loh et al., 2011; Straif et al., 2000). In
accordance with the most recent
Guidelines for Carcinogen Risk
Assessment (USEPA, 2005b), EPA has
categorized the six nitrosamine
compounds as likely to be carcinogenic
to humans based on sufficient evidence
of carcinogenicity in animal studies
with multiple tumor types
(predominately liver and esophageal) in
multiple animal species (e.g., rats, mice,
and hamsters) (Clapp et al., 1968, 1971;
Druckrey et al., 1967; Lijinsky, 1987a,
1987b; Peto et al., 1991a, 1991b). All of
the six nitrosamines have been
determined to cause cancer through a
mutagenic MOA because of DNA adduct
formation leading to errors in DNA
replication, altered cell proliferation
and ultimately tumors (Diaz Gomez et
al., 1986; Goto et al., 1999; Jarabek et al.,
2009; Souliotis et al., 1998). The
mutagenic MOA is supported by
positive findings from mutagenicity and
genotoxicity in vitro and in vivo studies
(Gollapudi et al., 1998; Kushida et al.,
2000; Martelli et al., 1988, Robbiano et
al., 1996, Tinwell et al., 1994).
With a mutagenic MOA, Age
Dependent Adjustment Factors (ADAFs)
are used to account for the potential
increased cancer risk due to early-life
exposure for infants and children
(USEPA, 2005c). The age-adjusted unit
risk is determined by summing up each
of the time-weighted unit risks for the
three ADAF developmental groups. The
age-adjusted unit risks include a tenfold adjustment for birth to <2 years, a
three-fold adjustment for 2 years to <16
years, and no additional adjustment for
exposures later in life, in conjunction
with age-specific drinking water intake
values (USEPA. 2012c), and the fraction
of a 70-year lifetime applicable to each
age period. The main cancer risk values
used to derive the HRLs are further
explained in section III.C.1 and are also
summarized for nitrosamines in Table
10 below.
E:\FR\FM\20OCP2.SGM
20OCP2
62744
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
TABLE 10—EPA DERIVED RISK VALUES AND HRLS FOR THE SIX INDIVIDUAL NITROSAMINES
Cancer slope
factor
(mg/kg/day)¥1
Nitrosamines
Studies for establishing a slope factor
NDBA ..........................
1 Age-adjusted
0.4
3.0 × 10¥5
3 × 10¥2
30
30
2.3 ×
4×
10¥4
0.4
21
2
1.6 × 10¥3
1.5 × 10¥4
6 × 10¥4
7 × 10¥3
0.6
7
4
7
3.0 × 10¥4
5.3 × 10¥4
3 × 10¥3
2 × 10¥3
3
2
Liver and esophageal tumors in rats (Druckrey et
al., 1967).
Liver and esophageal tumors in rats (Peto et al.,
1991a,b).
Liver tumors in rats (Peto et al., 1991a,b) ..............
Liver and esophageal tumors in rats (Druckrey et
al., 1967).
Liver tumors in rats (Druckrey et al., 1967) ............
Liver tumors in rats (Peto et al., 1984) ...................
NDEA ..........................
NDMA .........................
NDPA ..........................
NMEA .........................
NPYR ..........................
unit risk
(μg/L)¥1
10¥3
2 HRL
(μg/L)
3 HRL
(ng/L)
1 Based on the recommendations of the U.S EPA’s 2005 Supplemental Guidance for Assessing Susceptibility from Early-Life Exposure to Carcinogens, the Unit Risk applicable to exposures beginning in early-life was adjusted with ADAFs and age-specific drinking water intakes resulting
in a lifetime value of unit risk for exposure to 1 μg/L of a contaminant. The calculation for Age-Adjusted Unit Risk = è(CSF × ADAF × DWI/BWR
× CW × F). The risk calculations for each individual nitrosamine can be found in the HESDs.
2 The cancer HRL is determined by dividing the population risk level, one-in a million (10¥6), by the age-adjusted unit risk.
3 The nitrosamine HRL values are converted to ng/L units by multiplying the μg/L values by 1000.
As shown in table 10, the available
data indicate a range of cancer risk
values for the individual nitrosamines.
Moreover, when multiple nitrosamines
from this group are present in finished
water together, their individual cancer
risks are additive (Berger et al., 1987).
EPA also evaluated whether health
information is available regarding
sensitive populations. The fetus,
newborns, and infants may be
potentially sensitive to the carcinogenic
effects of nitrosamines due to the
mutagenic MOA and evidence of
transplacental carcinogenicity (Althoff
et al., 1977; Donovan and Smith, 2008).
Studies have found that younger rats
were more susceptible to the
development of liver tumors compared
to rats exposed later in life to
nitrosamines (Gray et al., 1991; Peto et
al., 1984; Vesselinovitch et al., 1984).
EPA’s Supplemental Guidance for
Assessing Susceptibility from Early-Life
Exposure to Carcinogens (USEPA,
2005c) indicates that potential increased
cancer risk due to early-life exposure
should be taken into account for such
compounds when there is the potential
for greater susceptibility for structural
changes to DNA leading to tumors when
the exposures occur in infancy or
childhood. Thus, the Supplemental
Guidance (USEPA, 2005c) recommends
using CSF estimates from chronic
studies with ADAFs when chemicalspecific data that quantify the potential
increased risk are lacking. All of the
HRLs are based on lifetime exposure
and include application of ADAFs,
which adjust for the increased risk from
early life exposure (see section III.C.1).
In addition, habitual consumers of
alcoholic beverages may be more
susceptible to carcinogenic effects of
nitrosamines because alcohol increases
the metabolism of nitrosamines via a
metabolic pathway that leads to the
formation of mutagenic DNA adducts.
Co-exposure to ethanol has been shown
to exacerbate the cancer effects of
nitrosamines in animal studies
(Anderson et al., 1993; Kamataki et al.,
2002; McCoy et al., 1986). There are
approximately five million people in the
U.S. who suffer from alcoholism (O’Day
et al., 1998) that may have an increased
risk if co-exposed to nitrosamines
(Amelizad et al., 1989; Verna et al.,
1996).
3. Occurrence Data and Information
The data collected under UCMR 2
(USEPA, 2014d) are currently the best
available data for characterizing the
national occurrence baselines for the six
nitrosamines. Under UCMR 2, PWSs
were required to collect a sample at
each entry point to the distribution
system as well as at the maximum
residence time locations within the
distribution system associated with each
entry point, and to report the
disinfectant type in use at these
locations at the time that the samples
were being taken. The agency was
unable to measure at the HRL for some
of the nitrosamines. Therefore, Table 11
presents all of the monitoring results for
each of the six nitrosamines relative to
the MRLs.
TABLE 11—SUMMARY OF UCMR 2 MONITORING RESULTS FOR SIX NITROSAMINES
MRL
Percentages (number) of
samples with detection
Percentages (number) of
UCMR 2 PWSs with at
least one detection
Percentages (number) of
actual UCMR 2 population served with at
least one detection*
Nitrosamine Group ................................................................................
2 to 7 ng/L
NDBA ....................................................................................................
4 ng/L
NDEA ....................................................................................................
5 ng/L
NDMA ....................................................................................................
tkelley on DSK3SPTVN1PROD with PROPOSALS2
Nitrosamines considered under RD 3
2 ng/L
NDPA ....................................................................................................
7 ng/L
NMEA ....................................................................................................
3 ng/L
NPYR ....................................................................................................
2 ng/L
10.6%
(1,907 of 18,053)
0.05%
(9 of 18,043)
0.3%
(46 of 18,038)
10.2%
(1,841 of 18,040)
0%
(0 of 18,049)
0.02%
(3 of 18,043)
0.2%
(41 of 18,043)
28.6%
(343 of 1,198)
0.4%
(5 of 1,198)
2.2%
(26 of 1,198)
27.0%
(324 of 1,198)
0%
(0 of 1,198)
0.3
(3 of 1,198)
1.8%
(21 of 1,198)
46.43%
(73 of 157 million)
1.07%
(1.7 of 157 million)
7.14%
(11.2 of 157 million)
41.54%
(65.3 of 157 million)
0%
(0 of 157 million)
0.003%
(0.004 of 157 million)
4.73%
(7.4 of 157 million)
* The population-served values have been adjusted to include both the population served directly by a system and also the estimated attributable proportion of the
population served by other systems that purchase water from the system. These adjustments are described in the UCMR 2 support document.
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
PO 00000
Frm 00030
Fmt 4701
Sfmt 4702
E:\FR\FM\20OCP2.SGM
20OCP2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
Finished water data for the
nitrosamines from California (Ranalli,
B., 2013) are consistent with the UCMR
2 data. The State of California reported
NDMA detections in 23.8% (24 of 101)
of PWSs and NDEA detections in 7.1%
(1 of 14) of PWSs. There were no NPYR,
NDPA, NMEA, or NDBA detections
reported. Reporting levels are not
known. For California data on NDMA
and NDEA, the minimum reported
detections were 1 ng/L and 30 ng/L,
respectively. NDBA, NDPA, NMEA, and
NPYR had no detections and thus no
minimum reported value in the dataset
(Ranalli, B., 2013). While ambient water
data for the nitrosamines are limited,
because they are DBPs, it is expected
that in general there would be higher
concentrations in finished water than in
ambient water.
V. What about the remaining CCL 3
contaminants?
For the remaining CCL 3
contaminants, the agency lacked
adequate health and/or occurrence
information needed to address the three
SDWA statutory criteria to make a
regulatory determination. Table 2 and
Table 4 of this notice provide
information about the data or
information gap(s) that prevented the
contaminant from moving forward for
this regulatory determination effort. The
agency continues to conduct research,
collect information or find other
avenues to fill the data and information
gaps identified in Table 2 and 4. One
mechanism the agency plans to
continue to use to fill occurrence gaps
for several of these contaminants is the
UCMR.
VI. EPA’s Next Steps
EPA intends to carefully evaluate and
respond to the public comments
received on the five preliminary
determinations and issue its final
regulatory determinations in 2015. If the
agency makes a final determination to
regulate any of the contaminants, EPA
will begin the process to propose an
NPDWR within 24 months and
promulgate a final NPDWR within 18
months following the proposal.
tkelley on DSK3SPTVN1PROD with PROPOSALS2
VII. References
Abdel-Rahman, M.S., D. Couri, and R.J. Bull.
1984. Toxicity of chlorine dioxide in
drinking water. Journal of the American
College of Toxicology 3(4):277–284.
Abrams, S. A., K. C. Copeland, S. K. Gunn,
et al. 2000. Calcium absorption, bone mass
accumulation, and kinetics increase during
early pubertal development in girls.
Journal of Clinical Endocrinology &
Metabolism 85(5):1805–1809.
Agency for Toxic Substances and Disease
Registry (ATSDR). 1989. Toxicological
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
Profile for N-Nitrosodimethylamine. U.S.
Department of Health and Human Services,
Public Health Service. Available on the
internet at: https://www.atsdr.cdc.gov/
substances/toxsubstance.asp?toxid=173.
Accessed July 22, 2009.
ATSDR. 1995. Toxicological Profile for 1,3Dinitrobenzene and 1,3,5-Trinitrobenzene.
U.S Department of Health and Human
Services, Public Health Service. Available
on the Internet at: https://www.
atsdr.cdc.gov/toxprofiles/tp.asp?id=842&
tid=164. Accessed July 22, 2009.
ATSDR. 2004. Toxicological Profile for
Strontium. U.S. Department of Health and
Human Services, Public Health Service.
Available on the Internet at: https://www.
atsdr.cdc.gov/toxprofiles/index.asp.
Accessed July 22, 2009.
Aggazzotti G., E. Righi, G. Fantuzzi, et al.
2004. Chlorination by-products (CBPs) in
drinking water and adverse pregnancy
outcomes in Italy. J. Water Health.
2(4):233–47 (as cited in U.S. EPA, 2006c).
Althoff, J., P. Pour, C. Grandjean, et al. 1977.
Transplacental effects of nitrosamines in
Syrian hamsters. Z. Krebsforsch Klin. O.
90:79–86.
Amelizad, S., K.E. Appel, M. Schoepke, et al.
1989. Enhanced demethylation and
denitrosation of N-nitrosodimethylamine
by human liver microsomes from
alcoholics. Cancer Lett. 46(1):43–9.
Anderson, L.M., J.P. Carter, C.L. Driver et al.
1993. Enhancement of tumorigenesis by Nnitrosodiethylamine, N-nitrosopyrrolidine
and N6-(methylnitroso)-adenosine by
ethanol. Cancer Lett, 68: 61–66.
AWWA Disinfection Systems Committee.
2008a. Committee Report: Disinfection
Survey, Part 1-Recent changes, current
practices, and water quality. Journal
AWWA 100(10):76–90.
AWWA Disinfection Systems Committee.
2008b. Committee Report: Disinfection
Survey, Part 2-Alternatives, experiences,
and future plans. Journal AWWA
100(11):110–124.
Argonne National Laboratory (ANL). 2007.
Radiological and Chemical Fact Sheets to
Support Health Risk Analyses for
Contaminated Areas. Environmental
Science Division. Available on the Internet
at: https://www.gfxtechnology.com/Argonne
RadFacts.pdf.
Bailey, D.E. 1988. 14-Day oral toxicity study
in the dog with AC 92 100 and its
metabolites, CL 94 301 and CL94320.
Unpublished report on HLA Study No.
362–190 (BASF RDI No. TE–420–007) from
Hazleton Laboratories America, Inc.,
Vienna, VA, USA (as cited in USEPA,
2003c).
Barrett, D. 1987. A subchronic (3 month) oral
toxicity study of sodium chlorate in the rat
gavage: Final Report: Project No. 86–3112.
Unpublished study prepared by Bio/
dynamics, Inc. 464 p. MRID: 40444801 (as
cited in USEPA, 2006a).
Berger, M.R., D. Schmahl, and H. Zerban.
1987. Combination experiments with very
low doses of three genotoxic Nnitrosamines with similar organotropic
carcinogenicity in rats. Carcinogenesis
8(11):1635–1643.
Blomquist, J.D., J.M. Denis, J.L. Cowles, J.A.
Hetrick, R.D. Jones, and N.B. Birchfield.
PO 00000
Frm 00031
Fmt 4701
Sfmt 4702
62745
2001. Pesticides in Selected Water-Supply
Reservoirs and Finished Drinking Water,
1999–2000: Summary of Results from a
Pilot Monitoring Survey. U.S. Geological
Survey Open-File Report 01–456. 65 pp.
Available on the Internet at: https://
md.water.usgs.gov/nawqa/OFR_01–
456.pdf.
CDC. 2010. National Chronic Kidney Disease
Fact Sheet: General Information and
National Estimates on Chronic Kidney
Disease in the United States, 2010. Atlanta,
GA: U.S. Department of Health and Human
Services (HHS). Available on the Internet
at: https://www.cdc.gov/diabetes/pubs/pdf/
kidney_factsheet.pdf.
Clapp, N.K., A.W. Craig, and R.E. Toya, Sr.
1968. Pulmonary and hepatic oncogenesis
during treatment of male RF mice with
dimethylnitrosamine. Journal of the
National Cancer Institute 41:1213–1227.
Clapp, N.K., R.L. Tyndall, and J.A. Otten.
1971. Differences in tumor types and organ
susceptibility in BALB/c and Rf mice
following dimethylnitrosamine and
diethylnitrosamine. Cancer Research
31:196–198.
Clarke, B. 2008. Normal Bone Anatomy and
Physiology. Clin J Am Soc Nephrol. 3:
S131–S139. Available on the Internet at:
https://www.ncbi.nlm.nih.gov/pmc/articles/
PMC3152283/.
Cody, T.E., S. Witherup, L. Hastings, K.
Stemmer, and R.T. Christian. 1981. 1,3Dinitrobenzene: Toxic effects in vivo and
in vitro. Journal of Toxicology and
Environmental Health 7(5):829–847.
Connell, G.F., J.C. Routt, B. Macler, R.C.
Andrews, J.M. Chen, Z.K. Chowdhury, G.F.
Crozes, G.B. Finch, R.C. Hoehn, J.G.
Jacangelo, A. Penkal, G.R. Schaeffer, C.R.
Schulz, and M.P. Uza. 2000a. Committee
report: Disinfection at small systems.
Journal AWWA 92(5):24–31.
Connell, G.F, J.C. Routt, B. Macler, R.C.
Andrews, J.M. Chen, Z.K. Chowdhury, G.F.
Crozes, G.B. Finch, R.C. Hoehn, J.G.
Jacangelo, A. Penkal, G.R. Schaeffer, C.R.
Schulz, and M.P. Uza. 2000b. Committee
report: Disinfection at large and mediumsize systems. Journal AWWA 92(5): 32–43.
D’Haese, P.C., M.M. Couttenye, L.V.
Lamberts, M.M. Elseviers, W.G. Goodman,
I. Schrooten, W.E. Cabrera, and M.E. De
Broe. 1999. Aluminum, iron, lead,
cadmium, copper, zinc, chromium,
magnesium, strontium, and calcium
content in bone of end-stage renal failure
patients. Clinical Chemistry 45(9):1548–
1556.
D’Haese, P.C., I. Schrooten, W.G. Goodman,
W.E. Cabrera, L.V. Lamberts, M.M.
Elseviers, M.M. Couttenye, and M.E. De
Broe. 2000. Increased bone strontium
levels in hemodialysis patients with
osteomalacia. Kidney International
57(3):1107–1114.
Delzer, G.C. and T. Ivahnenko. 2003.
Occurrence and Temporal Variability of
Methyl tert-Butyl Ether (MTBE) and Other
Volatile Organic Compounds in Select
Sources of Drinking Water: Results of the
Focused Survey. U.S. Geological Survey
Water-Resources Investigations Report 02–
4084. 65 pp. Available on the Internet at:
https://sd.water.usgs.gov/nawqa/pubs/wrir/
wrir02_4084.pdf.
E:\FR\FM\20OCP2.SGM
20OCP2
tkelley on DSK3SPTVN1PROD with PROPOSALS2
62746
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
DeSimone, L.A. 2009. Quality of Water from
Domestic Wells in Principal Aquifers of the
United States, 1991–2004. U.S. Geological
Survey Scientific Investigations Report
2008–5227. 139 pp. Available on the
Internet at: https://pubs.usgs.gov/sir/2008/
5227/.
Diaz Gomez, M.I., D. Tamayo, and J.A.
Castro. 1986. Administration of Nnitrosodimethylamine, Nnitrosopyrrolidine, or N′nitrosonornicotine to nursing rats: their
interactions with liver and kidney nucleic
acids from sucklings. J. Natl. Cancer Inst.
76(6):1133–1136.
Donovan, P.J. and G.T. Smith. 2008. Urethane
and N-nitrosodiethylamine are mutagenic
for the Syrian hamster fetus. Mutation
Research 657(2):160–163.
Drabik-Markiewicz, G., K. Van den
Maagdenberg, E. De May, S. Deprez, T.
Kowalska, and H. Paelinck. 2009. Role of
proline and hydroxyproline in Nnitrosamine formation during heating in
cured meat. Meat Science 81(3):479–486.
Druckrey, H., R. Preussmann, S. Ivankovic, et
al. 1967. Organotropic carcinogenic effects
of 65 various N-nitroso- compounds on BD
rats. Zeitschrift fur Krebsforschung
69(2):103–201.
Dzubay, T.G. and R.K. Stevens. 1975.
Ambient air analysis with dichotomous
sampler and x-ray fluorescence
spectrometer. Environmental Science and
Technology 9(7):663–668.
Food and Drug Administration (FDA). 2011.
Available on the Internet at: https://
www.fda.gov/Radiation-EmittingProducts/
ResourcesforYouRadiationEmitting
Products/ucm252764.htm. Accessed July
10, 2013.
Fine, D.H., R. Ross, D.P. Rounbehler, A.
Silvergleid, and L. Song. 1977. Formation
in vivo of volatile N-nitrosamines in many
after ingestion of cooked bacon and
spinach. Nature 265:753–755.
Gallagher, D.L, R.C Hoehn, and A.M.
Dietrich. 1994. Sources, Occurrence, and
Control of Chlorine Dioxide By-Product
Residuals in Drinking Water. Published by
AwwaRF and AWWA.
Gates, D., G. Ziglio, and K. Ozekin. 2009.
State of the Science of Chlorine Dioxide in
Drinking Water. Water Research
Foundation and Fondazione AMGA.
Government Accountability Office (GAO).
2011. Safe Drinking Water Act: EPA
Should Improve Implementation of
Requirements on Whether to Regulate
Additional Contaminants. Report to
Congressional Requesters. GAO–11–254.
May, 2011.
Gilliom, R.J., J.E. Barbash, C.G. Crawford,
P.A. Hamilton, J.D. Martin, N. Nakagaki,
L.H. Nowell, J.C. Scott, P.E. Stackelberg,
G.P. Thelin, and D.M. Wolock. 2007. The
Quality of Our Nation’s Waters—Pesticides
in the Nation’s Streams and Ground Water,
1992–2001. Appendix 7. Statistical
Summaries of Water-Quality Data. U.S.
Geological Survey Circular 1291. 172 pp.
Available on the Internet at: https://
water.usgs.gov/nawqa/pnsp/pubs/
circ1291/appendix7/.
Gollapudi, B.B., K.M. Jackson, and W.T.
Scott. 1998. Hepatic lacI and cII mutation
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
in transgenic (lLIZ) rats treated with
dimethylnitrosamine. Mutation Research
419:131–135.
Goto, Y., T. Matsuda, and K. Ito. 1999.
Mutagenicities of N-nitrosodimethylamine
and N-nitrosodiethylamine in Drosophila
and their relationship to the levels of Oalkyl adducts in DNA. Mutation Research
425(1):125–134.
Gray, R., R. Peto, P. Brantom, et al. 1991.
Chronic nitrosamine ingestion in 1040
rodents: the effect of the choice of
nitrosamies, the species studied and the
age of starting exposure. Cancer Research
51:6470–6491.
Grynpas, M.D. and P.J. Marie. 1990. Effects
of low doses of strontium on bone quality
and quantity in rata. Bone 11(5):313–319.
Hajjar, N.P., M.E. Brower, P.A. Turck, C.L.
Kruger, and W.R. Hartley. 1992. 1,3Dinitrobenzene (DNB). In Drinking Water
Health Advisory: Munitions. Lewis
Publishers, Ann Arbor, MI. pp. 49–86.
Hamilton, P.A., T.L. Miller, and D.N. Myers.
2004. Water Quality in the Nation’s
Streams and Aquifers: Overview of
Selected Findings, 1991–2001. U.S.
Geological Survey Circular 1265. Available
on the Internet at: https://water.usgs.gov/
pubs/circ/2004/1265/pdf/circular1265.pdf.
Hazardous Substances Data Bank (HSDB).
2009. Available on the Internet at: https://
toxnet.nlm.nih.gov/cgi-bin/sis/
htmlgen?HSDB. Accessed August 10, 2009.
HSDB. 2010. Available on the Internet at:
https://toxnet.nlm.nih.gov/cgi-bin/sis/
htmlgen?HSDB. Accessed September 2010.
Hooth, M.J., A.B. DeAngelo, M.H. George, et
al. 2001. Subchronic sodium chlorate
exposure in drinking water results in a
concentration-dependent increase in rat
thyroid follicular cell hyperplasia.
Toxicologic Pathology 29(2):250–259.
Hopple, J.A., G.C. Delzer, and J.A. Kingsbury.
2009. Anthropogenic Organic Compounds
in Source Water of Selected Community
Water Systems that Use Groundwater,
2002–05. U.S. Geological Survey Scientific
Investigations Report 2009–5200. 74 pp.
Available on the Internet at: https://
pubs.usgs.gov/sir/2009/5200/pdf/sir20095200.pdf.
IOM (Institute of Medicine). 2010. Dietary
Reference Intakes for Calcium and Vitamin
D. Eds. Committee to Review Dietary
Reference Intakes for Vitamin D and
Calcium. Institute of Medicine, Food and
Nutrition Board. Available on the Internet
at: https://www.nap.edu/openbook.
php?record_id=13050&page=1.
Jaffe, E.R. and D.E. Hultquist. 1989.
Cytochrome b5 reductase deficiency and
enzymopenic hereditary
methemoglobinemia In: The Metabolic
Basis of Inherited Disease. Scriver, C., A.L.
Beaudet, W.S. Sly, and D. Valle, eds. New
York: McGraw Hill Information Services
Co. pp. 2267–2280.
Jarabek, A.M., L.H. Pottenger, L.S, Andrews,
D. Casciano, M.R. Embry, J.H. Kim, R.J.
Preston, M.V. Reddy, R. Schoeny, D.
Shuker, J. Skare, J. Swenberg, G.M.
Williams, and E. Zeiger. 2009. Creating
context for the use of DNA adduct data in
cancer risk assessment: I. Data
organization. Critical Reviews in
Toxicology 39(8):659–678.
PO 00000
Frm 00032
Fmt 4701
Sfmt 4702
Kamataki, T., K. Fujita, K. Nakayama, Y.
Yamazaki, M. Miyamoto, and N. Ariyoshi.
2002. Role of human cytochrome P450
(CYP) in the metabolic activation of
nitrosamine derivatives: Application of
genetically engineered Salmonella
expressing human CYP. Drug Metabolism
Reviews 34(3):667–676.
Khan, M.A, SE. Fenton, A.E. Swank, S.D.
Hester, A. Williams, and DC Wolf. 2005. A
mixture of ammonium perchlorate and
sodium chlorate enhances alterations of the
pituitary-thyroid axis caused by the
individual chemicals in adult male F344
rats. Toxicologic Pathology 33(7):776–783.
Kingsbury, J.A., G.C. Delzer, and J.A. Hopple.
2008. Anthropogenic Organic Compounds
in Source Water of Nine Community Water
Systems that Withdraw from Streams,
2002–05. U.S. Geological Survey Scientific
Investigations Report 2008–5208. 66 pp.
Available on the Internet at: https://
pubs.usgs.gov/sir/2008/5208/pdf/sir20085208.pdf.
Kushida, H., K. Fujita, A. Suzuki, M.
Yamada, T. Endo, T. Nohmi, and T.
Kamataki. 2000. Metabolic activation of Nalkylnitrosamines in genetically
engineered Salmonella typhimurium
expressing CYO2E1 or CYP2A6 together
with human NADPH-cytochrome P450
reductase. Carcinogenesis 21(6):1227–
1232.
La Vecchia, C., B. D’Avanzo, L. Airoldi, et al.
1995. Nitrosamine intake and gastric
cancer. Eur. J. Cancer Prev. 4:469–474.
Larsson, S.C., L. Bergkvist and A. Wolk.
2006. Processed meat consumption, dietary
nitrosamines and stomach cancer risk in a
cohort of Swedish women. International
Journal of Cancer 119: 915–919.
Leahy, P.P. and T.H. Thompson. 1994. The
National Water-Quality Assessment
Program. U.S. Geological Survey Open-File
Report 94–70. 4 pp. Available on the
Internet at: https://water.usgs.gov/nawqa/
NAWQA.OFR94-70.html. Accessed
October 25, 2004.
Lee, W.T., S.S. Leung, D.M. Leung, et al.
1996. A Follow-up study on the effects of
calcium-supplement withdrawal and
puberty on bone acquisition of children.
American Journal of Clinical Nutrition
64(1):71–77.
Lijinsky, W. 1987a. Carcinogenicity and
mutagenicity of N-nitroso compounds.
Molecular Toxicology 1(1):107–119.
Lijinsky, W. 1987b. Structure-activity
relations in carcinogenesis by N-nitroso
compounds. Cancer and Metastasis
Reviews 6(3):301–356.
Linder, R.E., R.A. Hess, and L.F. Strader.
1986. Testicular toxicity and infertility in
male rats treated with 1,3-dinitrobenzene.
Journal of Toxicology and Environmental
Health 19:477–489.
Lindsey, B.D., M.P. Berndt, B.G. Katz, A.F.
Ardis, and K.A. Skach. 2008. Factors
Affecting Water Quality in Selected
Carbonate Aquifers in the United States,
1993–2005. U.S. Geological Survey
Scientific Investigations Report 2008–5240.
Available on the Internet at: https://
pubs.usgs.gov/sir/2008/5240/.
Loh, Y.H., P. Jakszyn, R.N. Luben, A.A.
Mulligan, P.N. Mitrou, and K. Khaw. 2011.
E:\FR\FM\20OCP2.SGM
20OCP2
tkelley on DSK3SPTVN1PROD with PROPOSALS2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
N-nitroso compounds and cancer
incidence: the European Prospective
Investigation into Cancer and Nutrition
(EPIC)–Norfolk Study. American Journal of
Clinical Nutrition 93:1053–61.
Luzzatto, L. and A. Mehta. 1989. Glucose-6phosphate dehydrogenase deficiency. In:
The Metabolic Basis of Inherited Disease.
Scriver, C., A.L. Beaudet, W.S. Sly, and D.
Valle, eds. New York: McGraw Hill
Information Services Co. Pp. 2237–2239.
Marie, P.J., M.T. Garba, M. Hott, and L.
Miravet. 1985. Effects of low doses of
stable strontium on bone metabolism in
rats. Mineral and Electrolyte Metabolism
11(1):5–13.
Marie, P.J. and M. Hott. 1986. Short-term
effects of fluoride and strontium on bone
formation and resorption in the mouse.
Metabolism 35(6):547–551.
Martelli, A., L. Robbiano, G.M. Gazzaniga,
and G. Brambilla. 1988. Comparative study
of DNA damage and repair induced by ten
N-nitroso compounds in primary cultures
of human and rat hepatocytes. Cancer
Research 48(15):4144–4152.
Matkovic, V., P.K. Goel, NE. BadenshopStevens. 2005. Calcium supplementation
and bone mineral density in females from
childhood to young adulthood: a
randomized controlled trial. American
Journal of Clinical Nutrition 81(1):175–188.
Matsumoto, A. 1976. Effect of strontium on
the epiphyseal cartilage plate of rat tibiae—
Histological and radiographic studies.
Japanese Journal of Pharmacology 26:675–
681.
McCauley, P.T., M. Robinson, F.B. Daniel, et
al. 1995. The effects of subchronic chlorate
exposure in Sprague-Dawley rats. Drug and
Chemical Toxicology 18(2–3):185–199
McCoy, G.D., S.S. Hecht, and K. Furuya.
1986. The effect of chronic ethanol
consumption on the tumorigenicity of Nnitrosopyrrolidine in male Syrian golden
hamsters. Cancer Letters 33(2):151–159.
McGuire, M.J., J.L. McLain, and A.
Obolensky. 2002. Information Collection
Rule Data Analysis. Sponsored by the
Microbial/Disinfection By-Products
Research Council. Jointly funded by
AwwaRF and USEPA. Published by by
AwwaRF and AWWA.
Mirvish, S. S. 1975. Formation of N-Nitroso
compounds: chemistry, kinetics, and in
vivo occurrence. Toxicology and Applied
Pharmacology 31:325–351.
Mirvish, S. S. 1992. In vivo formation of NNitroso compounds: formation from Nitrite
and Nitrogen Dioxide, and relation to
gastric cancer. Nitrosamines and Human
Cancer, Banbury Report 12 (ed. P. N.
Magee) Cold Spring Harbor Laboratory,
New York, 227–241.
Mitch, W.A., SW. Krasner, P. Westerhoff, and
A. Dotson. 2009. Occurrence and
Formation of Nitrogenous Distribution ByProducts. Water Research Foundation.
National Center for Food and Agricultural
Policy (NCFAP). 2000. Pesticide Use in
U.S. Crop Production: 1997. National
Summary Report. Available on the Internet
at: https://www.ncfap.org/documents/
nationalsummary1997.pdf.
National Research Council (NRC). 2002.
Opportunities to Improve the U.S.
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
Geological Survey National Water Quality
Assessment Program. National Academy
Press. 238 pp. Available on the Internet at:
https://www.nap.edu/catalog/10267.html.
National Toxicology Program (NTP). 2005a.
NTP Technical Report on the Toxicology
and Carcinogenesis Studies of Sodium
Chlorate (CAS No. 7775–09–9) in F344/N
Rats and B6C3F1 Mice (Drinking Water
Studies). NTP TR 517 NIH Publication No.
06–4457 National Institutes of Health,
Public Health Service, U.S. Department of
Health and Human Services. December,
2005. Available on the Internet at:https://
ntp.niehs.nih.gov/ntp/htdocs/LT_rpts/
tr517.pdf.
NTP. 2011. Substance Profiles—NNitrosodimethylamine. Report on
Carcinogens. Twelfth Edition. US
Department of Health and Human Services,
Public Health Service. Available on the
Internet at: https://ntp.niehs.nih.gov/ntp/
roc/twelfth/roc12.pdf
Neufeld, E.B. and A.L. Boskey. 1994.
Strontium alters the complexed acidic
phospholipid content of mineralizing
tissues. Bone 15(4):425–430.
NIH (National Institutes of Health). 2011a.
Dietary Supplement Fact Sheet: Calcium.
Office of Dietary Supplements Web site.
https://ods.od.nih.gov/factsheets/calcium.
Updated August 31, 2011. Accessed
November 28, 2011.
NIH (National Insititues of Health). 2011b.
Information for Patients About Paget’s
Disease of Bone. National Institute of
Arthritis and Musculoskeletal and Skin
Diseases, NIH Osteoporosis and Related
Bone Diseases National Resource Center
Web site. https://www.niams.nih.gov/
Health_Info/Bone/Pagets/. Accessed
January 31, 2012.
O’Day, R., J. Rench, and R. Oen, et al. 1998.
Demographic Distribution of Sensitive
Populations Groups. US EPA, Office of
Water, Office of Science and Technology,
Health and Ecological Criteria Division.
Contract No. 68–C6–0036. SRA 557–05/14.
February 24.
Pennington, J.A.T. and J.W. Jones. 1987.
Molybdenum, nickel, cobalt, vanadium,
and strontium in total diets. Journal of the
American Dietetic Association
87(12):1644–1650.
´
´
Perez, D.M., G.G. Alatorre, E.B. Alvarez, E.E.
Silva, and J.F.J. Alvarado. 2008. Solidphase microextraction of Nnitrosodimethylamine in beer. Food
Chemistry 107(3):1348–1352.
Peto, R., R. Gray, P. Brantom, and P. Grasso.
1984. Nitrosamine carcinogenesis in 5120
rodents: Chronic administration of sixteen
different concentrations of NDEA, NDMA,
NPYR And NPIP in the water of 4440
inbred rats, with parallel studies on NDEA
alone of the effect of age of starting (3, 6
or 20 weeks) and of species (rats, mice or
hamsters). IARC Scientific Publications
57:627–665.
Peto, R., R. Gray, P. Brantom, et al. 1991a.
Dose and time relationships for tumor
induction in the liver and esophagus of
4080 inbred rats by chronic ingestion of Nnitrosodiethylamine or Nnitrosodimethylamine. Cancer Research
51(23 Pt 2):6452–6469.
PO 00000
Frm 00033
Fmt 4701
Sfmt 4702
62747
Peto R, R. Gray, P. Brantom, et al. 1991b.
Effects on 4080 rats of chronic ingestion of
N-nitrosodiethylamine or Nnitrosodimethylamine: a detailed doseresponse study. Cancer Res. 51(23 Pt
2):6415–6451.
Ranalli, B. 2013. Chlorate and Nitrosamine
Occurrence Data Gathered by States and
Reported to EPA During the Second
Six-Year Review Process. Technical Memo
from the Cadmus Group, June 21, 2013.
Rapp, W.R. 1974. A three and twenty-four
month oral toxicity and carcinogenicity
study of AC 92 100 in rats. Unpublished
report, Bio/dynamics project No. 71R–725
(BASF RDI No. TE–427–001), from Bio/
dynamics Inc., East Millstone, NJ, USA (as
cited in USEPA, 1988 and 2003c).
Righi E., et al. 2012. Trihalomethanes,
chlorite, chlorate in drinking water and
risk of congenital anomalies: A populationbased case-control study in Northern Italy.
Environmental Research. 116: 66–73.
Robbiano, L., E. Mereto, C. Corbu, and G.
Brambilla. 1996. DNA damage induced by
seven N-nitroso compounds in primary
cultures of human and rat kidney cells.
Mutation Research 368(1):41–47.
Schrooten, I., G.J. Behets, W.E. Cabrera, S.R.
Vercauteren, L.V. Lamberts, S.C.
Verberckmoes, A.J. Bervoets, G. Dams,
W.G. Goodman, M.E. De Broe, and P.C.
D’Haese. 2003. Dose-dependent effects of
strontium on bone of chronic renal failure
rats. Kidney International 63(3):927–935.
Schrooten, I., W. Cabrera, W.G. Goodman, S.
Dauwe, L.V. Lamberts, R. Marynissen, W.
´
Dorrine, M.E. De Broe, and P.C. D’Haese.
1998. Strontium causes osteomalacia in
chronic renal failure rats. Kidney
International 54(2):448–456.
Shacklette, H.T. and J.G. Boerngen. 1984.
Elemental concentrations in soils and other
surficial materials of the conterminous
United States. U.S. Geological Survey
Professional Paper 1270: An account of the
concentrations of 50 chemical elements in
samples of soils and other regoliths.
Shellenberger, T. 1984. 28-Day Oral Toxicity
in the Dog with AC 92,100: Report No.
87019. Unpublished study prepared by
Tegeris Laboratories Inc. 89 p. (as cited in
USEPA, 2006c).
Shellenberger, T., and L.H. Billups. 1986.
One-year oral toxicity study in purebred
beagle dogs with AC 92 100. Unpublished
report No. 8414 (BASF RDI No. TE–427–
002) from Tegeris Laboratories, Inc.,
Laurel, MD, USA (as cited in USEPA,
2003c).
Silverman, M.E.B, T.E. Shellenberger, L.H.
Billups, and A.S. Tegeris. 1986. Chronic
dietary toxicity and oncogenicity study
with AC 92 100 in mice. Unpublished
report No. 8422 (BASF RDI No. TE–428–
002) from Tegeris Laboratories, Inc.,
Laurel, MD, USA (as cited in USEPA,
2003c).
Souliotis, V.L., J.H. van Delft, M.J.
Steenwinkel, R.A. Baan, and S.A.
Kyrtopoulos. 1998. DNA adducts, mutant
frequencies and mutation spectra in
lambda lacZ transgenic mice treated with
N-nitrosodimethylamine. Carcinogenesis
19(5):731–739.
Storey, E. 1961. Strontium ‘‘rickets’’: Bone,
calcium and strontium changes.
E:\FR\FM\20OCP2.SGM
20OCP2
tkelley on DSK3SPTVN1PROD with PROPOSALS2
62748
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
Australasian Annals of Medicine 10:213–
222.
Straif, K., S.K. Weiland, M. Bungers, et al.
2000. Exposure to high concentrations of
nitrosamines and cancer mortality among a
cohort of rubber workers. Occupational
and Environmental Medicine 57:180–187.
Tinwell, H., P.A. Lefevre, and J. Ashby. 1994.
Mutation studies with dimethyl
nitrosoamine in young and old lac I
transgenic mice. Mutation Research
307:501–508.
Toccalino, P.L., J.E. Norman, and K.J. Hitt.
2010. Quality of Source Water from Publicsupply Wells in the United States, 1993–
2007. U.S. Geological Survey Scientific
Investigations Report 2010–5024. 206 pp.
Available on the Internet at: https://
pubs.usgs.gov/sir/2010/5024/.
Tothill, P., M.A. Smith, and S.H. Cohn. 1983.
Whole-body and part-body turnover of 85Sr
in Paget’s disease. Physics in Medicine and
Biology 28(2):149–159.
Tricker, A. R. Pfundstein, B. & Preussmann,
R. 1994 Nitrosatable secondary amines:
exogenous and endogenous exposure and
nitrosation in-vivo. Nitrosamines and
Related N-Nitro Compounds: Chemistry
and Biochemistry (ed. R. N. Leoppky & C.
J. Michejda) American Chemical Society,
Washington, DC, 93–101.
United States Department of Agriculture
(USDA). 2004. USDA Pesticide Data
Program Water Monitoring Survey
Overview. March 11, 2004. Available on
the Internet at: https://www.ams.usda.gov/
AMSv1.0/
getfile?dDocName=PDPWATOVIEW.
USDA. 2012. PDP—Databases and Annual
Summaries. Available on the Internet at:
https://www.ams.usda.gov/AMSv1.0/ams.
fetchTemplateData.do?template=
TemplateG&topNav=&leftNav=Scienceand
Laboratories&page=PDPDownloadData/
Reports&description=Download+PDP+
Data/Reports&acct=pestcddataprg.
Accessed February 15, 2012.
United States Environmental Protection
Agency (USEPA). 1986. Guidelines for
Carcinogen Risk Assessment. Federal
Register. Vol. 51, No. 185. p. 33992,
September 24, 1986.
USEPA. 1988. Health Advisory for Terbufos.
Office of Drinking Water.
USEPA. 1990a. IRIS Summary for
Dimethoate. Available on the Internet at:
https://www.epa.gov/ncea/iris/subst/
0044.htm.
USEPA. 1990b. 1990 IRIS Summary: mDinitrobenzene. National Center for
Environmental Assessment. Available on
the Internet at: https://www.epa.gov/ncea/
iris/subst/0318.htm.
USEPA. 1996. National Primary Drinking
Water Regulations: Monitoring
Requirements for Public Drinking Water
Supplies; Final Rule. Federal Register. Vol.
61, No. 94, p. 24353. May 14, 1996.
USEPA. 1998. Announcement of the
Drinking Water Contaminant Candidate
List; Notice. Federal Register. Vol. 63, No.
40, p. 10273. March 2, 1998.
USEPA. 1999. Revisions to the Unregulated
Contaminant Monitoring Regulation for
Public Water Systems; Final Rule. Federal
Register. Vol. 64, No. 180, p. 50556.
September 17, 1999.
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
USEPA. 2000a. Unregulated Contaminant
Monitoring Regulation for Public Water
Systems: Analytical Methods for
Perchlorate and Acetochlor;
Announcement of Laboratory Approval
and Performance Testing (PT) Program for
the Analysis of Perchlorate; Final Rule and
Proposed Rule. Federal Register. Vol. 65,
No. 42, p. 11372. March 2, 2000.
USEPA. 2000b. National Drinking Water
Advisory Council Minutes of Meeting Held
June 14, 2000. EPA 810–S–00–001. August
2000.
USEPA. 2001a. Unregulated Contaminant
Monitoring Regulation for Public Water
Systems; Analytical Methods for List 2
Contaminants; Clarifications to the
Unregulated Contaminant Monitoring
Regulation. Federal Register. Vol. 66, No. 8,
p. 2273. January 11, 2001.
USEPA. 2001b. Reference Guide for the
Unregulated Contaminant Monitoring
Regulation. EPA 815–R–01–023. 65 pp.
Office of Water. October 2001. Available on
the Internet at: https://www.epa.gov/ogwdw/
ucmr/ucmr1/pdfs/guidance_ucmr1_ref_
guide.pdf.
USEPA. 2002a. Community Water System
Survey 2000. Volume I: Overview. EPA
815–R–02–005A. December 2002.
Available on the Internet at: https://
www.epa.gov/safewater/consumer/pdf/
cwss_2000_volume_i.pdf.
USEPA. 2002b. Community Water System
Survey 2000. Volume II: Detailed Tables
and Survey Methodology. EPA 815–R–02–
005B. December 2002. Available on the
Internet at: https://www.epa.gov/safewater/
consumer/pdf/cwss_2000_volume_ii.pdf.
USEPA. 2002c. The Toxics Release Inventory
(TRI) and Factors to Consider When Using
TRI Data. EPA 260–F–02–017. November
2002. Available on the Internet at: https://
www.epa.gov/tri/triprogram/
FactorsToConPDF.pdf.
USEPA. 2003a. Announcement of Regulatory
Determinations for Priority Contaminants
on the Drinking Water Contaminant
Candidate List. Federal Register. Vol. 68,
No. 138, p. 42898. July 18, 2003.
USEPA. 2003b. How are the Toxics Release
Inventory Data Used? EPA 260–R–002–
004. May 2003. Available on the Internet
at: https://www.epa.gov/tri/guide_docs/pdf/
2003/2003_datausepaper.pdf.
USEPA. 2003c. Terbufos. First draft prepared
by K.L. Hamernik from the Office of
Science Coordination and Policy Division.
JMPR 333–385. Available on the Internet
at: https://whqlibdoc.who.int/publications/
2004/924166519X_terbufos.pdf.
USEPA. 2004. Pesticide Industry Sales and
Usage: 2000 and 2001 Market Estimates.
Biological and Economic Analysis
Division, Office of Pesticide Programs.
Available on the Internet at: https://
www.epa.gov/opp00001/pestsales/.
USEPA. 2005a. Drinking Water Contaminant
Candidate List 2; Final Notice. Federal
Register. Vol. 70, No. 36, p. 9071. February
24, 2005.
USEPA. 2005b. Guidelines for Carcinogen
Risk Assessment. EPA 630–P–03–001B.
March 2005. Available on the Internet at:
https://www.epa.gov/ttn/atw/cancer_
guidelines_final_3–25–05.pdf.
PO 00000
Frm 00034
Fmt 4701
Sfmt 4702
USEPA. 2005c. Supplemental Guidance for
Assessing Susceptibility to Early-life
Exposure to Carcinogens. EPA 630–R–03–
003F. March 2005. Available on the
Internet at: https://www.epa.gov/ttn/atw/
childrens_supplement_final.pdf.
USEPA. 2006a. Reregistration Eligibility
Decision (RED) for Inorganic Chlorates.
EPA 738–R–06–014. Office of Prevention,
Pesticides and Toxic Substances. Available
on the Internet at: https://www.epa.gov/
oppsrrd1/REDs/inorganicchlorates_
red.pdf.
USEPA. 2006b. Revised Inorganic Chlorates.
HED Chapter of the Reregistration
Eligibility Decision Document (RED). EPA–
HQ–OPP–2005–0507–0004. January 26,
2006. Available on the Internet at: https://
www.regulations.gov/fdmspublic/
component/
main?main=DocketDetail&d=EPA–HQ–
OPP–2005–0507.
USEPA. 2006c. Reregistration Eligibility
Decision for Terbufos. Office of Pesticide
Programs. Available on the Internet at:
https://www.epa.gov/pesticides/
reregistration/REDs/terbufos_red.pdf.
USEPA. 2007a. Unregulated Contaminant
Monitoring Regulation (UCMR) for Public
Water Systems Revisions; Final Rule.
Federal Register. Vol. 72, No. 2, p. 367.
January 4, 2007.
USEPA. 2007b. Revised Interim
Reregistration Decision for Dimethoate.
Available on the Internet at: https://
www.epa.gov/pesticides/reregistration/
REDs/dimethoate_ired_revised.pdf.
USEPA. 2008a. Drinking Water: Regulatory
Determinations Regarding Contaminants
on the Second Drinking Water
Contaminant Candidate List. Federal
Register. Vol. 73, No. 147, p. 44251. July
30, 2008.
USEPA. 2008b. The Analysis of Occurrence
Data from the Unregulated Contaminant
Monitoring (UCM) Program and National
Inorganics and Radionuclides Survey
(NIRS) in Support of Regulatory
Determinations for the Second Drinking
Water Contaminant Candidate List. EPA
815–R–08–014. June 2008.
USEPA. 2008c. The Analysis of Occurrence
Data from the First Unregulated
Contaminant Monitoring Regulation
(UCMR 1) in Support of Regulatory
Determinations for the Second Drinking
Water Contaminant Candidate List. EPA
815–R–08–012. June 2008.
USEPA. 2009a. Drinking Water Contaminant
Candidate List 3—Final. Federal Register.
Vol. 74, No. 194, p. 51850. October 8, 2009.
USEPA. 2009b. The Analysis of Regulated
Contaminant Occurrence Data from Public
Water Systems in Support of the Second
Six-Year Review of National Primary
Drinking Water Regulations. EPA–815–B–
09–006. October 2009.
USEPA. 2009c. Community Water System
Survey 2006. Volume I: Overview. EPA
815–R–09–001. Available on the Internet
at: https://water.epa.gov/infrastructure/
drinkingwater/pws/upload/
cwssreportvolumeI2006.pdf.
USEPA. 2009d. Community Water System
Survey 2006. Volume II: Detailed Tables
and Survey Methodology. EPA 815–R–09–
E:\FR\FM\20OCP2.SGM
20OCP2
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
002. Available on the Internet at: https://
water.epa.gov/infrastructure/
drinkingwater/pws/upload/
cwssreportvolumeII2006.pdf.
USEPA. 2010a. Non-confidential Inventory
Update Reporting (IUR). Available on the
Internet at: https://www.epa.gov/iur/
index.html. Accessed July 1, 2010.
USEPA. 2010b. Non-confidential IUR
Production Volume Information. Available
on the Internet at: https://epa.gov/cdr/tools/
data/2002-vol.html. Accessed July 1, 2010.
USEPA. 2011a. Drinking Water: Regulatory
Determination on Perchlorate. Federal
Register. Vol. 76, No. 29, p. 7762. February
11, 2011.
USEPA. 2011b. Letter from Acetochlor
Registration Partnership requesting
regulation of chloroacetanilides, June 16,
2011.
USEPA. 2011c. Summary of Comments and
Discussion, Preliminary Regulatory
Determinations for the Third Contaminant
Candidate List Stakeholder Meeting, June
16, 2011.
USEPA. 2011d. Support for Regulatory
Determination 3 Expert Reviews; October
26th and 27th 2011 Meeting Summary.
December 2011.
USEPA. 2011e. Exposure Factors Handbook
2011 Edition (Final). U.S. Environmental
Protection Agency, Washington, DC, EPA/
600/R–09/052F.
USEPA. 2011f. Pesticide Industry Sales and
Usage: 2006 and 2007 Market Estimates.
Biological and Economic Analysis
Division, Office of Pesticide Programs.
Available on the Internet at: https://
www.epa.gov/opp00001/pestsales/.
USEPA. 2012a. TRI Explorer: Trends.
Available on the Internet at: https://
www.epa.gov/triexplorer/trends.htm.
Accessed March 9, 2012.
USEPA. 2012b. Storage and Retrieval
(STORET) Data Warehouse. Available on
the Internet at: https://www.epa.gov/storet/
index.html. Data Warehouse consulted
March 2012.
USEPA. 2012c. Age Dependent Adjustment
Factor Application. Office of Water Policy
Document. Office of Science and
Technology. Office of Water. Washington,
DC. Draft.
USEPA. 2014a. Protocol for the Regulatory
Determinations 3. Including Appendices
A–F. April 2014. EPA Publication # 815–
R14–005.
USEPA. 2014b. Regulatory Determinations 3
Support Document. April 2014. EPA
Publication # 815–R14–003.
USEPA. 2014c. Health Effects Support
Document for Strontium. EPA Publication
# 820–P14–001.
USEPA. 2014d. Occurrence Data from the
Second Unregulated Contaminant
Monitoring Regulation (UCMR 2). April
2014. EPA Publication # 815–R14–004
USEPA. 2014e. Preliminary analysis of
monitoring results from the January 2014
upload of the third Unregulated
Contaminant Monitoring (UCMR 3). April
2014.
United States Geological Survey (USGS).
2007. Pesticide National Synthesis Project,
2002 Pesticide Use Maps. Available on the
Internet at: https://water.usgs.gov/nawqa/
pnsp/usage/maps/compound_
listing.php?year=02. Accessed October 30,
2008.
USGS. 2009. Strontium, from Mineral
Commodities Summaries. January 2009.
Pp. 158–159. Available on the Internet at:
https://minerals.usgs.gov/minerals/pubs/
commodity/strontium/mcs-2009-stron.pdf.
United States Renal Data System (USRDS).
2010. USRDS 2010 Annual Data Report.
62749
Available online at: www.usrds.org/
adr.htm. Accessed November 8, 2010. (The
USRDS End-Stage Renal Disease Incident
and Prevalent Quarterly Update is
available at https://www.usrds.org/qtr/
default.aspx.)
Van Sande, J., C. Massart, R. Beauwens, et al.
2003. Anion selectivity by the sodium
iodide symporter. Endocrinology. 144(1):
247–252.
Verna, L., J. Shysner, and G.M. Williams.
1996. N-Nitrosodiethylamine mechanistic
data and risk assessment: Bioactivation,
DNA-adduct formation, mutagenicity, and
tumor initiation. Pharmacology and
Therapeutics 71(1–2):57–81.
Vesselinovitch, S.D., M. Koka, N.
Mihailovich, and K.V.N. Rao. 1984.
Carcinogenicity of diethylnitrosamine in
newborn, infant, and adult mice. Journal of
Cancer Research and Clinical Oncology
108(1):60–65.
von Gunten, U. 2003. Ozonation of drinking
water: Part II. Disinfection and by-product
formation in presence of bromide, iodide
or chlorine. Water Research 37(7):1469–
1487.
World Health Organization (WHO). 2005.
Chlorite and Chlorate in Drinking-water,
Background Document for Development of
WHO Guidelines for Drinking-water
Quality, WHO/SDE/WSH/05.08/86.
¨
Yurchenko, S. and U. Molder. 2007. The
occurrence of volatile N-nitrosamines in
Estonian meat products. Food Chemistry
100(4):1713–1721.
Dated: October 3, 2014.
Gina A. McCarthy,
Administrator.
Appendix: HRL Derivation With AgeRelated Exposure Factors
DERIVATION OF THE HEALTH REFERENCE LEVEL (HRL) FOR STRONTIUM USING AGE-SPECIFIC EXPOSURE FACTORS
Age-specific fractions of
a 19-year exposure
duration
DWI/BWR
(L/kg/day)
Age range
0.004
0.009
0.013
0.026
0.053
0.053
0.158
0.263
0.263
0.105
0.053
0.001
0.002
0.002
0.003
0.003
0.003
0.007
0.009
0.007
0.002
0.001
Summation of the Time-Weighted DWI/BWRs = ............................................................................................................
0.040 L/kg/day *
Reference Dose = ..............................................................................................................................................................
tkelley on DSK3SPTVN1PROD with PROPOSALS2
Birth to <1 month .........................................................................
1 to <3 months .............................................................................
3 to <6 months .............................................................................
6 to <12 months ...........................................................................
1 to <2 years ................................................................................
2 to <3 years ................................................................................
3 to <6 years ................................................................................
6 to <11 years ..............................................................................
11 to <16 years ............................................................................
16 to <18 years ............................................................................
18 to <21 years # .........................................................................
0.3 mg/kg/day
RSC = ..................................................................................................................................................................................
20%
+HRL
0.235
0.228
0.148
0.112
0.056
0.052
0.043
0.035
0.026
0.023
0.026
Time-weighted
DWI/BWR
(L/kg/day)
= (0.3 mg/kg/day ∞ 0.040 L/kg/day) μ .20 = ........................................................................................................
1.500 mg/L
Final child specific HRL: ...................................................................................................................................................
1500 μg/L
* Rounded; # includes 18th year; DWI/BWR = drinking water intake to body weight ratio; HRL= health reference level; RSC = relative source
contribution.
+ HRL = (RfD/è(DWI/BWR × F)) × RSC.
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
PO 00000
Frm 00035
Fmt 4701
Sfmt 4702
E:\FR\FM\20OCP2.SGM
20OCP2
62750
Federal Register / Vol. 79, No. 202 / Monday, October 20, 2014 / Proposed Rules
tkelley on DSK3SPTVN1PROD with PROPOSALS2
The age-specific data on drinking
water intakes in units of L/kg/day from
birth through age 3 are from Table 3–19
in the EPA Exposures Factors Handbook
(USEPA, 2011e) and from Table 3–38 for
ages 3 to <19 . The exposure duration
adjustment was calculated by dividing
VerDate Sep<11>2014
16:52 Oct 17, 2014
Jkt 235001
the age-specific fraction of a 19 year
exposure by the total exposure in
months or years as appropriate (e.g.,
birth to <1 month = (1/12)/19 years =
0.00439; 6 to <11 years = 5/19 years =
0.26316). The time-weighted DWI/BWR
values are the product of the age-
PO 00000
Frm 00036
Fmt 4701
Sfmt 9990
specific DWI/BWR multiplied by the
age-specific fraction of a 19 year
exposure. The time-weighted DWI/
BWRs are summed to obtain the
normalized value.
[FR Doc. 2014–24582 Filed 10–17–14; 8:45 am]
BILLING CODE 6560–50–P
E:\FR\FM\20OCP2.SGM
20OCP2
Agencies
[Federal Register Volume 79, Number 202 (Monday, October 20, 2014)]
[Proposed Rules]
[Pages 62715-62750]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2014-24582]
[[Page 62715]]
Vol. 79
Monday,
No. 202
October 20, 2014
Part II
Environmental Protection Agency
-----------------------------------------------------------------------
40 CFR Part 141
Announcement of Preliminary Regulatory Determinations for Contaminants
on the Third Drinking Water Contaminant Candidate List; Proposed Rule
Federal Register / Vol. 79 , No. 202 / Monday, October 20, 2014 /
Proposed Rules
[[Page 62716]]
-----------------------------------------------------------------------
ENVIRONMENTAL PROTECTION AGENCY
40 CFR Part 141
[EPA-HQ-OW-2012-0155; FRL-9917-87-OW]
Announcement of Preliminary Regulatory Determinations for
Contaminants on the Third Drinking Water Contaminant Candidate List
AGENCY: Environmental Protection Agency (EPA).
ACTION: Request for public comment.
-----------------------------------------------------------------------
SUMMARY: The Safe Drinking Water Act (SDWA), as amended in 1996,
requires the Environmental Protection Agency (EPA) to make regulatory
determinations every five years on at least five unregulated
contaminants. A regulatory determination is a decision about whether or
not to begin the process to propose and promulgate a national primary
drinking water regulation (NPDWR) for an unregulated contaminant. These
unregulated contaminants are chosen from the Contaminant Candidate List
(CCL), which SDWA requires the agency to publish every five years. EPA
published the third CCL (CCL 3) in the Federal Register on October 8,
2009. This notice presents the preliminary regulatory determinations
and supporting rationale for 5 of the 116 contaminants listed on CCL 3.
The agency is making preliminary determinations to regulate one
contaminant (i.e., strontium) and to not regulate four contaminants
(i.e., 1,3-dinitrobenzene, dimethoate, terbufos and terbufos sulfone).
EPA seeks comment on these preliminary determinations.
DATES: Comments must be received on or before December 19, 2014, 60
days after publication in the Federal Register.
ADDRESSES: Submit your comments, identified by Docket ID No. EPA-HQ-OW-
2012-0155, by one of the following methods:
www.regulations.gov: Follow the online instructions for
submitting comments.
Mail: Water Docket, Environmental Protection Agency,
Mailcode: [28221T], 1200 Pennsylvania Ave. NW., Washington, DC 20460.
Hand Delivery: EPA Docket Center, [EPA/DC] EPA West, Room
3334, 1301 Constitution Ave. NW., Washington, DC. Such deliveries are
only accepted during the Docket's normal hours of operation, and
special arrangements should be made for deliveries of boxed
information.
Instructions: Direct your comments to Docket ID No. EPA-HQ-OW-2012-
0155. EPA's policy is that all comments received will be included in
the public docket without change and may be made available online at
www.regulations.gov, including any personal information provided,
unless the comment includes information claimed to be Confidential
Business Information (CBI) or other information whose disclosure is
restricted by statute. Do not submit information that you consider to
be CBI or otherwise protected through www.regulations.gov. The
www.regulations.gov Web site is an ``anonymous access'' system, which
means EPA will not know your identity or contact information unless you
provide it in the body of your comment. If you send an email comment
directly to EPA without going through www.regulations.gov your email
address will be automatically captured and included as part of the
comment that is placed in the public docket and made available on the
Internet. If you submit an electronic comment, EPA recommends that you
include your name and other contact information in the body of your
comment and with any disk or CD-ROM you submit. If EPA cannot read your
comment due to technical difficulties and cannot contact you for
clarification, EPA may not be able to consider your comment. Electronic
files should avoid the use of special characters, any form of
encryption, and be free of any defects or viruses. For additional
information about EPA's public docket visit the EPA Docket Center
homepage at https://www.epa.gov/epahome/dockets.htm. For additional
instructions on submitting comments, go to Section I.B of the
SUPPLEMENTARY INFORMATION section of this document.
Docket: All documents in the docket are listed in the
www.regulations.gov index. Although listed in the index, some
information is not publicly available, e.g., CBI or other information
whose disclosure is restricted by statute. Certain other material, such
as copyrighted material, will be publicly available only in hard copy.
Publicly available docket materials are available either electronically
in www.regulations.gov or in hard copy at the Water Docket, EPA/DC, EPA
West, Room 3334, 1301 Constitution Ave. NW., Washington, DC. The Public
Reading Room is open from 8:30 a.m. to 4:30 p.m., Monday through
Friday, excluding legal holidays. The telephone number for the Public
Reading Room is (202) 566-1744, and the telephone number for the Water
Docket is (202) 566-2426.
FOR FURTHER INFORMATION CONTACT: Zeno Bain, Standards and Risk
Management Division, Office of Ground Water and Drinking Water, Office
of Water (Mailcode 4607M), Environmental Protection Agency, 1200
Pennsylvania Ave. NW., Washington, DC 20460; telephone number: (202)
564-5970; email address: bain.zeno@epa.gov. For general information,
contact the Safe Drinking Water Hotline, telephone number: (800) 426-
4791. The Safe Drinking Water Hotline is open Monday through Friday,
excluding legal holidays, from 10 a.m. to 4 p.m. Eastern time.
SUPPLEMENTARY INFORMATION:
I. General Information
A. Does this action apply to me?
Neither these preliminary regulatory determinations nor the final
regulatory determinations, when published, impose any requirements on
anyone. Instead, this action notifies interested parties of EPA's
preliminary regulatory determinations for five unregulated contaminants
for comment.
B. Tips for Preparing Your Comments
When submitting comments, remember to:
Identify the rulemaking by docket number and other
identifying information (subject heading, Federal Register date and
page number).
Explain why you agree or disagree and suggest
alternatives.
Describe any assumptions and provide any technical
information and/or data that you used.
Provide specific examples to illustrate your concerns, and
suggest alternatives.
Explain your views as clearly as possible.
Make sure to submit your comments by the comment period
deadline identified.
Abbreviations Used in This Document
------------------------------------------------------------------------
Abbreviation Meaning
------------------------------------------------------------------------
[mu]g/L........................... Micrograms per liter.
ADAF.............................. Age Dependent Adjustment Factor.
AM................................ Assessment Monitoring.
AMWA.............................. Association of Metropolitan Water
Agencies.
ATSDR............................. Agency For Toxic Substances And
Disease Registry.
AWWA.............................. American Water Works Association.
BATs.............................. Best Available Technologies.
[[Page 62717]]
BMD............................... Benchmark Dose.
BMDL.............................. Benchmark Dose (95% Lower Confidence
Bound).
BW................................ Body Weight.
CARC.............................. Cancer Assessment Peer Review
Committee.
CAS............................... Chemical Abstracts Service.
CASRN............................. Chemical Abstract Service Registry
Number.
CBI............................... Confidential Business Information.
CCL............................... Contaminant Candidate List.
CCL 1............................. First Contaminant Candidate List.
CCL 2............................. Second Contaminant Candidate List.
CCL 3............................. Third Contaminant Candidate List.
CCR............................... Consumer Confidence Report.
CFR............................... Code of Federal Regulations.
ChE............................... Cholinesterase.
CMR............................... Chemical Monitoring Reform.
CSF............................... Cancer Slope Factor.
CUSIUR............................ Chemical Update System/Inventory
Update Rule.
cVOC.............................. Carcinogenic Volatile Organic
Compounds.
CW................................ Concentration in Water.
CWS............................... Community Water System.
CWSS.............................. Community Water System Survey.
DBP............................... Disinfection Byproduct.
DBP ICR........................... Disinfection Byproduct Information
Collection Rule.
DDE............................... 1,1-Dichloro-2,2-bis(p-
chlorophenyl)ethylene.
DSMRT............................. Distribution System Maximum
Residence Time.
DWI............................... Drinking Water Intake.
DWS............................... Drinking Water Strategy.
EFSA.............................. European Food Safety Authority.
ELCD.............................. Electrolytic Conductivity Detection.
EPA............................... Environmental Protection Agency.
EPCRA............................. Emergency Planning And Community
Right-To-Know Act.
EPTC.............................. S-Ethyl propylthiocarbamate.
EPTDS............................. Entry Point to the Distribution
System.
ESA............................... Ethanesulfonic Acid.
EWG............................... Environmental Working Group.
F................................. Fraction of a 70 year lifetime
applicable to the age period.
FFQ............................... Food Frequency Questionnaire.
FIFRA............................. Federal Insecticide, Fungicide, And
Rodenticide Act.
FR................................ Federal Register.
GAC............................... Granular Activated Carbon.
GAO............................... Government Accountability Office.
GC................................ Gas Chromatography.
GW................................ Ground Water.
HA................................ Health Advisory.
HRL............................... Health Reference Level.
ICR............................... Information Collection Rule.
IOC............................... Inorganic Compound.
IREDs............................. Interim Eligibility Decisions.
IRIS.............................. Integrated Risk Information System.
Kg................................ Kilogram.
LOAEL............................. Lowest Observed Adverse Effect
Level.
MCLG.............................. Maximum Contaminant Level Goal.
MDL............................... Method Detection Limit.
mg/L.............................. Milligrams per liter.
mg/kg/day......................... Milligrams per kilogram per day.
MDBP.............................. Microbial Disinfection Byproduct.
MOA............................... Mode of Action.
MRL............................... Minimum Reporting Limit.
MS................................ Mass Spectrometry.
MTBE.............................. Methyl Tertiary Butyl Ether.
NAS............................... National Academy of Sciences.
NAWQA............................. National Water Quality Assessment.
NCFAP............................. National Center for Food and
Agricultural Policy.
NCI............................... National Cancer Institute.
NCOD.............................. National Drinking Water Contaminant
Occurrence Database.
NDBA.............................. N-Nitroso-di-n-butylamine.
NDEA.............................. N-Nitrosodiethylamine.
NDMA.............................. N-Nitrosodimethylamine.
NDPA.............................. N-Nitroso-di-n-propylamine.
NDPhA............................. N-Nitrosodiphenylamine.
NDWAC............................. National Drinking Water Advisory
Council.
NIRS.............................. National Inorganics And
Radionuclides Survey.
NMEA.............................. N-Nitrosomethylethylamine.
NOAEL............................. No Observed Adverse Effect Level.
NPDES............................. National Pollutant Discharge
Elimination System.
NPDWR............................. National Primary Drinking Water
Regulation.
NPYR.............................. N-Nitrosopyrrolidine.
NRC............................... National Research Council.
NREC.............................. National Reconnaissance of Emerging
Contaminants.
NTP............................... National Toxicology Program.
OA................................ Oxanilic Acid.
OPP............................... Office of Pesticides Program.
OW................................ Office of Water.
PCCL.............................. Preliminary Contaminant Candidate
List.
PCE............................... Tetrachloroethylene.
PDP............................... Pesticide Data Program.
PFOA.............................. Perfluorooctanoic Acid.
PFOS.............................. Perfluorooctanesulfonic Acid.
PHA............................... Provisional Health Advisory.
PID............................... Photoionization Detection.
PMP............................... Pesticide Monitoring Program.
PWS............................... Public Water System.
QA................................ Quality Assurance.
RD 1.............................. Regulatory Determinations 1.
RD 2.............................. Regulatory Determinations 2.
RD 3.............................. Regulatory Determinations 3.
RED............................... Reregistration Eligibility Decision.
RfD............................... Reference Dose.
RL................................ Reporting Limit.
RSC............................... Relative Source Contribution.
SAP............................... Scientific Advisory Panel.
SDWA.............................. Safe Drinking Water Act.
SEPW.............................. U.S. Senate Committee on Environment
and Public Works.
SS................................ Screening Survey.
SSCTs............................. Small System Compliance
Technologies.
STORET............................ Storage And Retrieval (STORET) Data
System.
SW................................ Surface Water.
SY................................ Six Year Review.
SY3............................... Six Year Review 3.
TCE............................... Trichloroethylene.
TPTH.............................. Triphenyltin Hydroxide.
TRED.............................. Tolerance Reassessment Progress And
Risk Management Decision.
TRI............................... Toxic Release Inventory.
TT................................ Treatment Technique.
UCM............................... Unregulated Contaminant Monitoring.
UCMR 1............................ First Unregulated Contaminant
Monitoring Regulation.
UCMR 2............................ Second Unregulated Contaminant
Monitoring Regulation.
UCMR 3............................ Third Unregulated Contaminant
Monitoring Regulation.
UF................................ Uncertainty Factor.
USDA.............................. United States Department of
Agriculture.
USGS.............................. United States Geological Survey.
VOC............................... Volatile Organic Compound.
WHO............................... World Health Organization.
------------------------------------------------------------------------
Table of Contents
I. General Information
A. Does this action apply to me?
B. Tips for Preparing Your Comments
II. Purpose and Background
A. What is the purpose of this action?
B. Background on the CCL and Regulatory Determinations
1. Statutory Requirements for CCL and Regulatory Determinations
2. The First Contaminant Candidate List (CCL 1) and Regulatory
Determinations (RD 1)
[[Page 62718]]
3. The Second Contaminant Candidate List (CCL 2) and Regulatory
Determinations (RD 2)
4. The Third Contaminant Candidate List (CCL 3) and Regulatory
Determinations (RD 3)
5. The Drinking Water Strategy
6. Outreach for RD 3 (Stakeholder Meeting and Expert Review)
III. Approach and Overall Outcome for RD 3
A. Summary of the Approach and Overall Outcome for RD 3
1. Phase 1 (Data Availability Phase)
2. Phase 2 (Data Evaluation Phase)
3. Phase 3 (Regulatory Determination Assessment Phase)
B. Supporting Documentation for EPA's Preliminary Determinations
C. Analyses Used To Support the Preliminary Regulatory
Determinations
1. Evaluation of Adverse Health Effects
2. Evaluation of Contaminant Occurrence and Exposure
IV. Contaminant-Specific Discussions for the RD 3 Preliminary
Regulatory Determinations
A. Summary of the Preliminary Regulatory Determination
B. Contaminant Profiles
1. Dimethoate
2. 1,3-Dinitrobenzene
3. Strontium
4-5. Terbufos and Terbufos Sulfone
V. What is the status of the agency's evaluation of chlorate and the
nitrosamines?
VI. What about the remaining CCL 3 contaminants?
VII. EPA's Next Steps
VIII. References
Appendix: HRL Derivation with Age-Related Exposure Factors
II. Purpose and Background
This section briefly summarizes the purpose of this action, the
statutory requirements, and previous activities related to the CCL and
regulatory determinations.
A. What is the purpose of this action?
The purpose of this action is to present and request comment on
EPA's preliminary regulatory determinations for five unregulated
contaminants. The five contaminants include: Dimethoate, 1,3-
dinitrobenzene, strontium, terbufos, and terbufos sulfone. The agency
is making preliminary determinations to regulate one contaminant
(strontium) and to not regulate the remaining four contaminants
(dimethoate, 1,3-dinitrobenzene, terbufos, and terbufos sulfone). EPA
seeks comment on these preliminary determinations. The agency is also
presenting and requesting comment on the process used for this round of
regulatory determinations (i.e., RD 3), the supporting information, and
the rationale used to make these preliminary decisions.
B. Background on the CCL and Regulatory Determinations
1. Statutory Requirements for CCL and Regulatory Determinations.
Section 1412(b)(1)(B)(i) of the 1996 Safe Drinking Water Act Amendments
(SDWA) requires EPA to publish the CCL every five years. The CCL is a
list of contaminants which are not subject to any proposed or
promulgated national primary drinking water regulations (NPDWRs), are
known or anticipated to occur in public water systems (PWSs), and may
require regulation under SDWA. SDWA section 1412(b)(1)(B)(ii) directs
EPA to determine whether to regulate at least five contaminants from
the CCL every five years. For EPA to make a determination to regulate a
contaminant, SDWA requires the Administrator to determine that:
(a) The contaminant may have an adverse effect on the health of
persons;
(b) the contaminant is known to occur or there is substantial
likelihood that the contaminant will occur in public water systems with
a frequency and at levels of public health concern; and
(c) in the sole judgment of the Administrator, regulation of such
contaminant presents a meaningful opportunity for health risk reduction
for persons served by public water systems.
If EPA determines that these three statutory criteria are met and
makes a final determination to regulate a contaminant, the agency has
24 months to publish a proposed Maximum Contaminant Level Goal \1\
(MCLG) and NPDWR.\2\ After the proposal, the agency has 18 months to
publish and promulgate a final MCLG and NPDWR (SDWA section
1412(b)(1)(E)).\3\
---------------------------------------------------------------------------
\1\ The MCLG is the ``maximum level of a contaminant in drinking
water at which no known or anticipated adverse effect on the health
of persons would occur, and which allows an adequate margin of
safety. Maximum contaminant level goals are non-enforceable health
goals.'' (40 CFR 141.2; 42 U.S.C. 300g-1)
\2\ An NPDWR is a legally enforceable standard that applies to
public water systems. An NPDWR sets a legal limit (called a maximum
contaminant level or MCL) or specifies a certain treatment technique
(TT) for public water systems for a specific contaminant or group of
contaminants. The MCL is the highest level of a contaminant that is
allowed in drinking water and is set as close to the MCLG as
feasible using the best available treatment technology and taking
cost into consideration.
\3\ The statute authorizes a nine month extension of this
promulgation date.
---------------------------------------------------------------------------
2. The First Contaminant Candidate List (CCL 1) and Regulatory
Determinations (RD 1). EPA published the final CCL 1, which contained
60 chemical and microbiological contaminants, in the Federal Register
(FR) on March 2, 1998 (63 FR 10273; USEPA, 1998). The agency made and
published the final regulatory determinations for 9 of the 60 CCL 1
contaminants in the FR on July 18, 2003. The agency determined that
NPDWRs were not necessary for any of these nine contaminants:
Acanthamoeba, aldrin, dieldrin, hexachlorobutadiene, manganese,
metribuzin, naphthalene, sodium, and sulfate (68 FR 42898; USEPA,
2003a). The agency posted information about Acanthamoeba \4\ on the EPA
Web site and issued health advisories \5\ for manganese, sodium, and
sulfate.
---------------------------------------------------------------------------
\4\ Consumer information about Acanthamoeba for people who wear
contact lenses can be found at https://water.epa.gov/action/advisories/acanthamoeba/index.cfm.
\5\ The health advisories for CCL 1 can be found at https://water.epa.gov/drink/standards/hascience.cfm.
---------------------------------------------------------------------------
3. The Second Contaminant Candidate List (CCL 2) and Regulatory
Determinations (RD 2). The agency published the final CCL 2 in the FR
on February 24, 2005, (70 FR 9071; USEPA, 2005a) and carried forward
the 51 remaining chemical and microbial contaminants listed on CCL 1.
The agency made and published the final regulatory determinations for
11 of the 51 CCL 2 contaminants in the FR on July 30, 2008. The agency
determined that NPDWRs were not necessary for any of these 11
contaminants: boron, the dacthal mono- and di-acid degradates, 1,1-
dichloro-2,2-bis(p-chlorophenyl)ethylene (DDE), 1,3-dichloropropene
(Telone), 2,4-dinitrotoluene, 2,6-dinitrotoluene, s-ethyl
propylthiocarbamate (EPTC), fonofos, terbacil, and 1,1,2,2-
tetrachloroethane (73 FR 44251; USEPA, 2008a). The agency issued new or
updated health advisories \6\ for boron, dacthal degradates, 2,4-
dinitrotoluene, 2,6-dinitrotoluene and 1,1,2,2-tetrachloroethane.
---------------------------------------------------------------------------
\6\ The health advisories for CCL 2 can be found at https://water.epa.gov/drink/standards/hascience.cfm.
---------------------------------------------------------------------------
4. The Third Contaminant Candidate List (CCL 3) and Regulatory
Determinations (RD 3). The agency published the final CCL 3, which
listed 116 contaminants, in the FR on October 8, 2009 (74 FR 51850;
USEPA, 2009a). In developing CCL 3, EPA improved and built upon the
process that was used for CCL 1 and CCL 2. The new CCL 3 process was
based on substantial expert input and recommendations from the National
Academy of Science's (NAS) National Research Council (NRC) and the
National Drinking Water Advisory Council (NDWAC) as well as input from
the public. Based on these consultations and input, EPA developed a
multi-step process to select candidates for the final
[[Page 62719]]
CCL 3, which included the following key steps:
(a) Identification of a broad universe of ~7,500 potential drinking
water contaminants (the CCL 3 Universe);
(b) screening the CCL 3 Universe to a preliminary CCL (PCCL) of
~600 contaminants based on the potential to occur in PWSs and the
potential for public health concern; and
(c) evaluation of the PCCL contaminants based on a more detailed
review of the occurrence and health effects data to identify a final
list of 116 CCL 3 contaminants.
The development of the CCL, regulatory determinations, and any
subsequent rulemaking should be viewed as a progression where each
process builds upon the previous process, including the collection of
data and analyses conducted. The agency's improvements in developing
CCL 3 provide an excellent foundation for RD 3 by enhancing EPA's
ability to identify contaminants of concern for drinking water.
While this notice focuses on the preliminary regulatory
determinations for 5 of the 116 CCL 3 contaminants, it is important to
note that the agency made and published a final determination to
regulate one CCL 3 contaminant, perchlorate, on February 11, 2011 (76
FR 7762; USEPA, 2011a). Additional information about CCL 3 and the
perchlorate final determination can be found in the October 8, 2009 (74
FR 51850; USEPA, 2009a) and February 11, 2011 (76 FR 7762; USEPA,
2011a) Federal Register notices, respectively. Sections III and IV in
this notice provide more detailed information about the approach and
outcome used for RD 3 and the contaminant-specific regulatory
determinations.
5. The Drinking Water Strategy. In March 2010, EPA announced the
agency's new Drinking Water Strategy (DWS),\7\ which is aimed at
finding ways to strengthen the protection of public health from
contaminants in drinking water. The new vision is intended to
streamline decision-making, expand protection under existing laws, and
promote cost-effective new technologies to meet the needs of rural,
urban, and other water-stressed communities. The four principles
underlying the DWS are:
---------------------------------------------------------------------------
\7\ More information about the DWS can be found at
water.epa.gov/lawsregs/rulesregs/sdwa/dwstrategy/.
---------------------------------------------------------------------------
(a) Address contaminants as groups rather than one at a time so
that enhancement of drinking water protection can be achieved cost-
effectively.
(b) Foster development of new drinking water technologies to
address health risks posed by a broad array of contaminants.
(c) Use the authority of multiple statutes to help protect drinking
water.
(d) Partner with States to develop shared access to all PWSs
monitoring data.
The first principle (i.e., addressing contaminants as groups) has a
direct bearing on RD 3 and how to designate the contaminants for
analysis, determination and subsequent regulation; that is, should they
be considered individually or as a group. Although the agency has
previously regulated contaminants as groups (e.g., total
trihalomethanes, total haloacetic acids, gross alpha radionuclides,
gross beta and photon emitters, etc.), all of the determinations for RD
1 and RD 2 were made on individual contaminants. As part of the DWS,
the agency identified several factors to evaluate which contaminants
might effectively be regulated as a group and considered these factors
in evaluating contaminant groups for RD 3. All the factors do not have
to be met, but the more factors that are met, the more suitable it may
be to regulate the contaminants as a group. These factors include
whether the contaminants in the group:
(a) Have a similar health endpoint,
(b) can be measured by the same analytical methods,
(c) can be treated using the same technology or treatment technique
approach and/or
(d) have been shown to occur individually (and possibly co-occur if
data are available).
EPA conducted extensive national outreach to solicit input from
stakeholders on the DWS and how best to address groups of contaminants.
Stakeholders generally agreed that while public health protection is of
paramount importance, the grouping factors previously listed were some
of the other important factors to consider in evaluating which
contaminants would work best in a group regulation. Several CCL 3
contaminants (as well as non-CCL 3 contaminants) belong to contaminant
groups that underwent consideration for regulation during the RD 3
process.
In February 2011,\8\ the agency decided to address carcinogenic
volatile organic compounds (cVOCs) as a group in a separate and
concurrent regulatory process (which the agency expects to release in
late 2014). Some of the cVOCs being considered include unregulated
cVOCs listed on CCL 3 (e.g., 1,2,3-trichloropropane). While the cVOC
group is being evaluated in a separate regulatory process, the same
factors used to group cVOCs (i.e., similar health endpoint, measured by
the same analytical method, similar treatment technique approach, etc.)
were used to evaluate groups of contaminants for RD 3 as well (e.g.,
nitrosamines, chloroacetanilides, etc.). Although EPA evaluated the
nitrosamines and chloroacetanilides groups as part of the RD 3 process,
in the end, EPA decided not to make any preliminary determinations for
these groups under RD 3.
---------------------------------------------------------------------------
\8\ https://water.epa.gov/lawsregs/rulesregs/sdwa/dwstrategy/.
---------------------------------------------------------------------------
The SDWA requires EPA to review each existing NPDWR at least once
every six years and revise them, if appropriate. The purpose of the
review, called the Six Year Review (SY), is to identify those NPDWRs
for which current health effects assessments, changes in technology,
and/or other factors provide a health or technical basis to support a
regulatory revision that will maintain or provide for greater
protection of the health of persons. In contrast, the RD process is
intended to address currently unregulated contaminants. The agency will
review the existing Microbial Disinfection Byproduct (MDBP) regulations
as part of the third Six Year Review (SY3). Because chlorate and
nitrosamines are disinfection byproducts (DBPs) that can be introduced
or formed in public water systems partly because of disinfection
practices, the agency believes it is important to evaluate these
unregulated DBPs in the context of the review of the existing DBP
regulations. DBPs need to be evaluated collectively, because the
potential exists that the chemical disinfection used to control a
specific DBP could affect the concentrations of other DBPs. Therefore,
the agency is not making a regulatory determination for chlorate and
nitrosamines at this time. The agency expects to complete the review of
these DBPs by the end of 2015.
6. Outreach for RD 3 (Stakeholder Meetings and Expert Review).
EPA sought external advice and expert input for RD 3 by convening
two public stakeholder meetings and conducting an Expert Review panel.
On March 3, 2011, EPA held an Environmental Justice (EJ) Stakeholder
meeting in Washington, DC to solicit input on RD 3 and environmental
justice issues. Approximately 90 stakeholders participated (either by
phone or in person) including representatives of children's advocacy
groups, environmental organizations, community action groups, the
drinking water industry, and State drinking water and public health
programs. Stakeholders did not identify any EJ
[[Page 62720]]
issues specific to RD 3. On June 16, 2011, EPA held another public
Stakeholder Meeting in Washington, DC, to disseminate information on
the progress of RD 3 and solicit input from stakeholders, the public,
and other interested groups. Forty-six participants attended including
representatives from States, environmental and public health
organizations, drinking water systems, chemical manufacturers, local
governments, and academia. EPA presented and discussed: (a) The
approach used to narrow the contaminants listed on CCL 3 and identify
potential candidates for RD 3 (with a focus on those occurring at
levels of health concern in drinking water) and (b) the background,
health, and occurrence information for a ``short list'' of 32 \9\
contaminants being evaluated as potential RD 3 candidates. Stakeholders
asked questions and provided comments about the approach as well as the
health and occurrence information presented on several contaminants.
One stakeholder provided additional health information on the
chloroacetanilides and submitted a letter requesting that EPA regulate
these compounds with an NPDWR (USEPA, 2011b). A summary of the June 16,
2011, meeting is provided in the docket for this action (USEPA, 2011c).
---------------------------------------------------------------------------
\9\ Subsequent to the June 2011 stakeholder meeting and before
the October 2011 Expert Review, EPA identified two additional
contaminants for the shortlist, bringing the total to 34. In
response to the Expert Review comments, an additional contaminant
was added to the short list, bringing the final total to 35 CCL 3
contaminants.
---------------------------------------------------------------------------
In May 2011, the Government Accountability Office (GAO) released a
report entitled, ``EPA Should Improve Implementation of Requirements on
Whether to Regulate Additional Contaminants'' (GAO, 2011). Specifically
for regulatory determinations, GAO recommended that the agency develop
criteria to identify contaminants of greatest public health concern and
be more transparent, clear, and consistent by developing policies/
guidance to interpret the SDWA criteria and make determinations (i.e.,
include thresholds for positive findings, factors for determining
adequacy of occurrence/health data to make determinations, an approach
for evaluating health effects on sensitive subpopulations, a process
for presenting key information in documents, etc). In response to
questions regarding the GAO report at a July 2011 U.S. Senate Committee
on Environment and Public Works (SEPW) hearing,\10\ EPA committed to
consulting with an independent panel of scientists on the RD 3 process
to determine how SDWA criteria 1 and 2 are evaluated,\11\ how the best
available science is used to make decisions, how the contaminants of
greatest public health risk are assessed, and how vulnerable
populations (especially children) are considered. EPA also committed to
making the process used for regulatory determinations publicly
available and to review the process every five years as EPA conducts
the regulatory determination cycle.
---------------------------------------------------------------------------
\10\ The U.S. Senate Committee on Environment and Public Works
full committee hearing, entitled ``Oversight Hearing on the
Environmental Protection Agency's Implementation of the Safe
Drinking Water Act's Unregulated Drinking Water Contaminants
Program'' can be found at (https://www.epw.senate.gov/public/index.cfm?FuseAction=Hearings.Hearing&Hearing_ID=fc5a8756-802a-23ad-454a-b9eeb7bf1c36).
\11\ Under the statute, SDWA criterion 3 of Section
1412(b)(1)(A) is solely the Administrator's decision.
---------------------------------------------------------------------------
To implement the commitment, EPA convened a panel of experts in
October 2011 to provide an independent review of the approach used for
RD 3, which EPA described in a draft of the document entitled,
``Protocol for the Regulatory Determinations 3'' (USEPA, 2014a). The
Expert Review panel included seven experts representing one or more of
the following areas of expertise: health effects evaluation, drinking
water occurrence/exposure information evaluation, State drinking water
perspective, PWS perspective, and/or some familiarity with the RD 3
process (including the Contaminant Candidate List). The review involved
a three-week paper review of the October 2011 Draft RD 3 Protocol
document and an in-person meeting held in Washington DC, on October 26
and 27, 2011. Panel members were encouraged to provide comments as
individuals based upon their expertise and background, not as
representatives of any respective organizational affiliation. The
information and input provided by the expert reviewers assisted the
agency in revising and clarifying the approach used for the RD 3
process. A summary of the October 26-27, 2011, meeting and the expert
reviewers' comments (USEPA, 2011d), as well as the protocol document
(USEPA, 2014a), are provided in the docket for this action.
III. Approach and Overall Outcome for RD 3
This section describes (a) the approach EPA uses to identify and
evaluate contaminants for the agency's third round of Regulatory
Determinations (RD 3) along with the overall outcome of applying this
approach, (b) the supporting RD 3 documentation, and (c) the technical
analyses and sources of health and occurrence information.
A. Summary of the Approach and Overall Outcome for RD 3
The three phases of the RD 3 Process are (1) the Data Availability
Phase, (2) the Data Evaluation Phase, and (3) the Regulatory
Determination Assessment Phase. Figure 1 provides a brief overview of
the process EPA uses to identify which CCL 3 contaminants are
candidates for regulatory determinations and the SDWA statutory
criteria considered in making the regulatory determinations. For more
detailed information on the three phases of the RD 3 process please
refer to the ``Protocol for the Regulatory Determinations 3'' (USEPA,
2014a).
[[Page 62721]]
[GRAPHIC] [TIFF OMITTED] TP20OC14.000
1. Phase 1 (Data Availability Phase)
In Phase 1, the Data Availability Phase, the agency identifies
contaminants that may have sufficient health and occurrence data to
proceed to Phase 2 and be listed on a ``short list'' for further
evaluation. With regard to sufficient health effects data used to
identify potential adverse health effect(s), the agency considers
whether a peer-reviewed health risk assessment is available or in
process from one of the following sources: (a) The agency's Integrated
Risk Information System (IRIS); (b) the agency's Office of Water (OW);
(c) the agency's Office of Pesticide Programs (OPP); (d) the National
Academy of Sciences (NAS); (e) the Agency for Toxic Substances and
Disease Registry (ATSDR); and/or (f) the World Health Organization
(WHO). For a non-EPA health assessment (i.e., NAS, ATSDR, WHO) to be
utilized for regulatory determinations, the health assessment must use
comparable methods, standards, and guidelines to an EPA health
assessment. If a health assessment is not available from one of these
sources, then the contaminant is not considered for RD 3.
In regard to sufficient occurrence data, the agency considers the
availability of nationally representative finished water data and
whether other finished water data are available that indicate known
and/or likely occurrence in PWSs. Occurrence data from the following
sources, administered or overseen by EPA, is considered nationally
representative: (a) The Second Unregulated Contaminant Monitoring
Regulation (UCMR 2); (b) the First Unregulated Contaminant Monitoring
Regulation (UCMR 1) Assessment Monitoring; (c) the Unregulated
Contaminant Monitoring (UCM) program; and/or (d) the National
Inorganics and Radionuclides Survey (NIRS).
If nationally representative data are not available, EPA identifies
and evaluates other finished water data, which may include other
national assessments as well as regional, State, and more localized
finished water assessments. These other national finished water data
include assessments that are geographically distributed across the
nation but not intended to be statistically representative of the
nation. These other finished water data include the following sources
for consideration in the regulatory determination process: (a) Finished
water assessments for Federal agencies (e.g., EPA and the United States
Geological Survey (USGS)); \12\ (b) state-level finished water
monitoring data; (c) research performed by institutions and
universities (e.g., scientific literature); and/or (d) other
supplemental finished water monitoring surveys (e.g., Pesticide
Monitoring Program (PMP), National Reconnaissance of Emerging
Contaminants (NREC), and other targeted surveys or localized State/
Federal monitoring surveys).
---------------------------------------------------------------------------
\12\ These may be assessments that are geographically
distributed across the nation but not intended to be statistically
representative of the nation. Examples include EPA's Disinfection By
Product Information Collection Request and various USGS water
quality surveys.
---------------------------------------------------------------------------
EPA prefers to have nationally representative data available when
making regulatory determinations but may also use these other sources
of finished water occurrence data to evaluate the contaminant and
determine if there is ``substantial likelihood that the contaminant
will occur in PWSs with a frequency and at levels of public health
concern.'' If there is sufficient occurrence in these other finished
water data sources, EPA uses this information to address the
occurrence-related aspects of the statutory criteria when deciding to
regulate a contaminant. However, it is difficult to determine that a
contaminant is not occurring or not likely to occur based on these
other sources of finished water data because the data are limited in
scope and the contaminant could be occurring in other parts of the
country that were not monitored.
EPA also considers the availability of analytical methods for
monitoring, and whether the contaminant is part of a contaminant group
based on factors defined by the Drinking Water Strategy
[[Page 62722]]
(DWS) (see section II.B.5). After conducting the health and occurrence
data availability assessments, the agency identifies those contaminants
and contaminant groups that meet the following Phase 1 data
availability criteria:
(a) A peer-reviewed health assessment is available or in process,
and
(b) A widely available analytical method for monitoring is
available, and
(c) Either nationally representative finished water occurrence data
are available, or other finished water occurrence data shows occurrence
at levels >\1/2\ CCL 3 health reference level (HRL).\13\
---------------------------------------------------------------------------
\13\ See section III.C for a discussion about how EPA derives an
HRL. EPA developed the CCL 3 HRLs using the most recent health data
available during the CCL 3 process. EPA uses \1/2\ CCL 3 HRL as a
conservative value to identify contaminants with potential
occurrence of concern during Phase 1 of the RD process. The CCL 3
HRLs for the 116 contaminants can be found at (https://water.epa.gov/scitech/drinkingwater/dws/ccl/upload/Final-CCL-3-Contaminant-Information-Sheets.pdf). After updating, completing and peer-
reviewing health assessments as necessary, the final HRL used for RD
3 may be different than the CCL 3 HRL.
---------------------------------------------------------------------------
If a contaminant meets these three criteria, it is placed on a
``short list'' and proceeds to Phase 2. EPA also evaluated whether the
contaminant could be considered as part of a group using the DWS
factors discussed earlier in section II.B.5. After evaluating the 116
CCL 3 contaminants in Phase 1, the agency identified 35 CCL 3
contaminants and two non-CCL 3 contaminants (listed in Table 1) to
evaluate further in Phase 2. The non-CCL 3 contaminants were included
because they are part of a larger group (nitrosamines) that also
includes a number of CCL 3 contaminants.
Table 1--Contaminants Proceeding From Phase 1 to Phase 2
----------------------------------------------------------------------------------------------------------------
----------------------------------------------------------------------------------------------------------------
1, 1, 1, 2-Tetrachloroethane 1 3............ Metolachlor oxanilic acid (OA).1 3
1, 2, 3-Trichloropropane 1 3................ Molinate.\1\
1, 3-Dinitrobenzene \1\..................... Molybdenum.\1\
1, 4-Dioxane \2\............................ Nitrobenzene.1 3
Acephate \2\................................ N-Nitroso-di-n-butylamine (NDBA).1 3 5
Acetochlor 1 3.............................. N-Nitrosodiethylamine (NDEA).1 3
Acetochlor ethanesulfonic acid (ESA) 1 3.... N-Nitrosodimethylamine (NDMA).1 3
Acetochlor oxanilic acid (OA) 1 3........... N-Nitroso-di-n-propylamine (NDPA).1 3
Alachlor ethanesulfonic acid (ESA) 1 3...... N-Nitrosodiphenylamine (NDPhA).\3\
Alachlor oxanilic acid (OA) 1 3............. N-Nitrosomethylethylamine (NMEA).1 3 5
Chlorate \2\................................ N-Nitrosopyrrolidine (NPYR).1 3
Cobalt \1\.................................. Perfluorooctanesulfonic acid (PFOS).\2\
Dimethoate \1\.............................. Perfluorooctanoic acid (PFOA).\2\
Disulfoton \4\.............................. RDX.\1\
Diuron \4\.................................. Strontium.\1\
Methyl bromide (Bromomethane) \1\........... Terbufos.2 3
Methyl tert-butyl ether \1\................. Terbufos sulfone.1 3
Metolachlor 1 3............................. Vanadium.\1\
Metolachlor ethanesulfonic acid (ESA) 1 3... ..................................................................
----------------------------------------------------------------------------------------------------------------
\1\ Has nationally representative finished water data and available or in process health assessment.
\2\ Has other finished water data (occurrence at levels >\1/2\ CCL 3 HRL) and available or in process health
assessment.
\3\ Component of a contaminant group and will be further evaluated in Phase 2.
\4\ One exception to the criterion of having available nationally representative drinking water data applies to
contaminants monitored in the UCMR 1 Screening Survey (SS). As noted in section 5, the UCMR 1 SS is a
statistically defined, national sample of 300 PWSs. Because this survey only includes 300 systems, the agency
identified and compiled additional supplemental data to compliment the UCMR 1 SS data for these contaminants
that proceed to Phase 2 for further evaluation.
\5\ A non-CCL 3 contaminant that is part of the nitrosamine group.
The remaining 81 CCL 3 contaminants (listed in Table 2) did not
meet either or both of the Phase 1 data availability criteria above and
were not considered further for RD 3.
Table 2--Contaminants Not Proceeding From Phase 1 to Phase 2
----------------------------------------------------------------------------------------------------------------
----------------------------------------------------------------------------------------------------------------
Has nationally representative finished water data but no health assessment
----------------------------------------------------------------------------------------------------------------
1,1-Dichloroethane........................... Halon 1011 (Bromochloromethane).
3-Hydroxycarbofuran.......................... n-Propylbenzene.
Chloromethane (Methyl chloride).............. sec-Butylbenzene.
Germanium.................................... Tellurium.
----------------------------------------------------------------------------------------------------------------
Has available or in process health assessment and other finished drinking water data but no occurrence at levels
\1/2\ CCL 3 HRL
----------------------------------------------------------------------------------------------------------------
1-Butanol.................................... Formaldehyde.
Acrolein..................................... Methamidophos.
alpha-Hexachlorocyclohexane.................. Oxydemeton-methyl.
Bensulide.................................... Oxyfluorfen.
Benzyl chloride.............................. Permethrin.
Captan....................................... Profenofos.
[[Page 62723]]
Dicrotophos.................................. Tebuconazole.
Ethoprop..................................... Tribufos.
Ethylene glycol.............................. Vinclozolin.
Ethylene thiourea (Maneb).................... Ziram.
Fenamiphos................................... .................................................................
----------------------------------------------------------------------------------------------------------------
Has other finished drinking water data but no health assessment
----------------------------------------------------------------------------------------------------------------
17-alpha-Estradiol........................... Estriol.
Acetaldehyde................................. Estrone.
Aniline...................................... Ethinyl Estradiol (17-alpha-ethynyl estradiol).
Butylated hydroxyanisole..................... HCFC-22.
Cyanotoxins (Anatoxin-a, Cylindrospermopsin, Hexane.
Microcystin-LR).
Equilenin.................................... Mestranol.
Equilin...................................... Norethindrone (19-Norethisterone).
Erythromycin................................. Naegleria fowleri.*
Estradiol (17-beta-Estradiol)................ .................................................................
----------------------------------------------------------------------------------------------------------------
Does not have nationally representative or other finished water data
----------------------------------------------------------------------------------------------------------------
1,3-Butadiene................................ Quinoline.
2-Methoxyethanol............................. Tebufenozide.
2-Propen-1-ol................................ Thiodicarb.
4,4'-Methylenedianiline...................... Thiophanate-methyl.
Acetamide.................................... Toluene diisocyanate.
Clethodim.................................... Triethylamine.
Cumene hydroperoxide......................... Triphenyltin hydroxide (TPTH).
Dimethipin................................... Urethane.
Ethylene oxide............................... Campylobacter jejuni.
Hydrazine.................................... Escherichia coli (0157).
Methanol..................................... Helicobacter pylori.
Nitroglycerin................................ Hepatitis A virus.
N-Methyl-2-pyrrolidone....................... Salmonella enteric.
o-Toluidine.................................. Shigella sonnei.
Oxirane, methyl-............................. .................................................................
----------------------------------------------------------------------------------------------------------------
Does not have a widely available analytical method for occurrence monitoring
----------------------------------------------------------------------------------------------------------------
Adenovirus................................... Legionella pneumophila.
Caliciviruses................................ Mycobacterium avium.
Enterovirus.................................. .................................................................
----------------------------------------------------------------------------------------------------------------
Not within scope of this RD 3 since regulatory determination made in February 2011
----------------------------------------------------------------------------------------------------------------
Perchlorate.................................. .................................................................
----------------------------------------------------------------------------------------------------------------
* Does not have a widely available analytical method for occurrence monitoring.
2. Phase 2 (Data Evaluation Phase)
Contaminants that meet the minimum health and occurrence data
availability requirements in Phase 1 are advanced to the Phase 2
evaluation. In addition to health and occurrence information data
assessed in Phase 1, the agency collects additional health and
occurrence data and more thoroughly evaluates this information to
identify a list of contaminants that should proceed to Phase 3. The
agency uses the following steps to develop this list: (a) Derive a
draft HRL \14\ (See section III.C) for each contaminant, (b) compare
all occurrence data against the draft HRL (along with the analytical
method minimum reporting limit (MRL)), (c) identify contaminants that
occur at levels and frequencies of public health concern, and (d)
identify contaminants that have no or low occurrence at levels of
public health concern.
---------------------------------------------------------------------------
\14\ HRLs are not final determinations about the level of a
contaminant in drinking water that is necessary to protect any
particular population and are derived prior to development of a
complete exposure assessment. HRLs are risk derived concentrations
against which to evaluate the occurrence data to determine if
contaminants occur at levels of potential public health concern.
---------------------------------------------------------------------------
Using the available health effects assessments, the agency derives
a draft HRL and then evaluates this HRL value (along with the
analytical method MRL), against the concentration values compiled for
the nationally representative or other finished water occurrence
information identified in Phase 1. The agency also gathers additional
occurrence data and information on monitoring in ambient or source
water (relative to the draft HRL and the analytical method MRL),
production, use, release to the environment, and persistence and
mobility. In Phase 2, the agency specifically focuses its efforts to
identify those contaminants or contaminant groups that are occurring or
have substantial likelihood to occur at levels and frequencies of
public health concern. To identify such contaminants, the agency
considers the following information:
(a) How many samples (# and %) have detections > draft HRL and \1/
2\ draft HRL in the nationally representative and other finished water
occurrence data?
(b) How many systems (# and %) have detections > draft HRL and \1/
2\ draft HRL in the nationally representative and other finished water
occurrence data? and
(c) Is the contaminant associated with a contaminant group that is
of public
[[Page 62724]]
health concern and is being considered as part of the DWS? \15\
---------------------------------------------------------------------------
\15\ Carcinogenic Volatile Organic Compounds (including 1,2,3-
trichloropropane) are being evaluated in a separate regulatory
effort.
---------------------------------------------------------------------------
(d) Are there uncertainties or limitations with the data and/or
analyses, such as the age of the dataset, limitation of the detection
limit (i.e., MRL > draft HRL) and/or representativeness of the data
(e.g., limited to a specific region) that may cause misestimation of
occurrence in finished water at levels and frequency of public health
concern?
After identifying contaminants that are occurring at levels and
frequencies of public health concern to proceed to Phase 3, the agency
evaluates the remaining contaminants on the ``short list'' to determine
which contaminants have no or low occurrence at levels of health
concern that could also proceed to Phase 3 by considering the following
factors:
(a) Does the contaminant have nationally representative finished
water data showing no or low # or % of detections > draft HRL? \16\
---------------------------------------------------------------------------
\16\ Note that the non-national data tend to be limited in scope
and EPA does not use these data alone to support a determination
that the contaminant is not or is not substantially likely to
``occur in PWSs with a frequency and at levels of public health
concern,'' which would therefore be a decision ``not to regulate''
(i.e., negative determination).
---------------------------------------------------------------------------
(b) If a contaminant has other finished water data in addition to
nationally representative finished water data, does it support no or
low potential for occurrence in drinking water?
(c) Does additional occurrence information of known quality support
low or no occurrence or potential for occurrence in drinking water? For
example, is the occurrence in ambient/source water at levels below the
draft HRL? Are releases to the environment or use/production decreasing
over time?
(d) There are no critical information/data gaps after evaluating
the available health or occurrence data; and
(e) The contaminant is not included or evaluated with a group of
contaminants based on the factors defined by the DWS.
After evaluating these factors and whether a contaminant appears to
have sufficient data to evaluate the statutory criteria for regulatory
determination, the agency determines if the contaminant should proceed
to Phase 3. After evaluating the ``short list'' contaminants (listed in
Table 1), the agency identified 10 CCL 3 contaminants and 2 non-CCL 3
contaminants (listed in Table 3) that were within one of the following
Phase 2 data evaluation categories to proceed to Phase 3:
(a) A contaminant or part of a contaminant group occurring or
likely to occur at levels and frequencies of public health concern, or
(b) A contaminant not occurring or likely to occur at levels and
frequencies of public health concern and no data gaps.
Table 3--Contaminants Proceeding From Phase 2 to Phase 3
----------------------------------------------------------------------------------------------------------------
----------------------------------------------------------------------------------------------------------------
Chlorate 1 3................................. N-Nitrosodiethylamine (NDEA).\1\
Dimethoate \2\............................... N-Nitrosomethylethylamine (NMEA).1 4
1,3-Dinitrobenzene \2\....................... N-Nitrosopyrrolidine (NPYR).\1\
N-Nitroso-di-n-butylamine (NDBA) 1 4......... Strontium.1 3
N-Nitrosodimethylamine (NDMA) \1\............ Terbufos.\2\
N-Nitroso-di-n-propylamine (NDPA) \1\........ Terbufos Sulfone.\2\
----------------------------------------------------------------------------------------------------------------
\1\ A contaminant or part of a contaminant group occurring or likely to occur at levels and frequencies of
public health concern.
\2\ A contaminant not occurring or likely to occur at levels and frequencies of public health concern and no
data gaps.
\3\ The UCMR 3 includes sampling at both the entry point to the distribution system (EPTDS) and distribution
system maximum residence time (DSMRT) for this contaminant (77 FR 26071, May 2, 2012). For some contaminants,
including disinfection byproducts and inorganics, occurrence values may differ between the EPTDS and the DSMRT
due to dynamics within the distribution system such as contaminant degradation, formation, accumulation and
release.
\4\ A non-CCL 3 contaminant that is part of the nitrosamine group.
Note that the agency does not have a threshold or a bright line for
occurrence in drinking water that triggers whether a contaminant is of
public health concern. There are a number of factors to consider in
developing thresholds, some of which include the health effect(s), the
potency of the contaminant, the level at which the contaminant is found
in drinking water, how frequently the contaminant is found, the
geographic distribution (national, regional, or local occurrence),
other possible sources of exposure, and potential impacts on sensitive
populations or lifestages, etc. Given the many possible combinations of
factors and the constantly evolving science, EPA believes it is better
to analyze each contaminant and characterize and present the best
available information that helps identify whether the occurrence of a
contaminant is of public health concern. In the end, the determination
of whether there is a meaningful opportunity for health risk reduction
by regulation of a contaminant in drinking water is a highly
contaminant-specific one that takes into consideration a large number
of factors.
The remaining 25 CCL 3 contaminants (listed in Table 4) did not
proceed to Phase 3 and were not considered for RD 3 because of one or
more of the following critical health, occurrence, and/or other data
gaps:
(a) An updated health assessment is needed, but was not completed
by fall 2011;
(b) A health assessment is in process, but was not completed by
fall 2011;
(c) Critical health effects gap (e.g., lack of data to support
quantification for the oral route of exposure);
(d) Lacked nationally representative occurrence data;
(e) Insufficient other finished water occurrence data to
demonstrate occurrence at levels and frequencies of public health
concern (although it may have some levels of public health concern);
(f) Individual contaminants that were part of a group but lacked a
widely available analytical method for occurrence monitoring; and
(g) Critical occurrence data gap (e.g., inconsistent results and/or
trends in occurrence data, significant uncertainty in occurrence
analyses and/or data).
Table 4 identifies the health, occurrence, and/or other data gaps
that prevented the following 25 contaminants from moving forward for RD
3. The agency continues to conduct research, collect information or
find other avenues to fill the data and information gaps identified in
Table 4.
[[Page 62725]]
Table 4--Data and Rationale Summary of the 25 Contaminants Not Proceeding to Phase 3
--------------------------------------------------------------------------------------------------------------------------------------------------------
Occurrence data
No. Contaminant Health data available available Rationale
--------------------------------------------------------------------------------------------------------------------------------------------------------
1....................... 1,4-Dioxane................ Yes.................... No \1\................. Occurrence data gaps (no nationally
representative finished water data or
sufficient other finished water data).
2....................... Acephate................... Yes.................... No..................... Occurrence data gaps (no nationally
representative finished water data or
sufficient other finished water data).
3....................... Acetochlor................. No..................... Yes.................... Health data gap (no health assessment for the
degradates) and no detections in nationally
representative finished water data.
4....................... Acetochlor ethanesulfonic No..................... Yes.................... Health data gap (no health assessment for the
acid (ESA). ESA degradate) and no or low detections based
on nationally representative finished water
data.
5....................... Acetochlor oxanilic acid No..................... Yes.................... Health data gap (no health assessment for the
(OA). OA degradate) and no or low detections based
on nationally representative finished water
data.
6....................... Alachlor ethanesulfonic No..................... Yes.................... Health data gap (no health assessment for the
acid (ESA). ESA degradate) and no or low detections based
on nationally representative finished water
data.
7....................... Alachlor oxanilic acid (OA) No..................... Yes.................... Health data gap (no health assessment for the
OA degradate) and no or low detections based
on nationally representative finished water
data.
8....................... Cobalt..................... No..................... Yes \2\................ Health data gap (health assessment not updated
by fall 2011) and no detections in nationally
representative or other finished water data at
levels of public health concern.
9....................... Disulfoton................. Yes.................... No..................... Occurrence data gap (no nationally
representative finished water data and no
detections in other finished water data).
10...................... Diuron..................... Yes.................... No..................... Occurrence data gap (no nationally
representative finished water data and no
detections in other finished water data).
11...................... Methyl Bromide............. No..................... Yes \1\................ Health data gap (health assessment not updated
by fall 2011).
12...................... Methyl tert-butyl ether.... No..................... Yes.................... Health data gap (IRIS health assessment not
completed by fall 2011) and no or low
detections based on nationally representative
finished water data.
13...................... Metolachlor................ No..................... Yes.................... Health data gap (no health assessment for
degradates) and few detections in nationally
representative finished water data.
14...................... Metolachlor ethanesulfonic No..................... Yes.................... Health data gap (no health assessment for ESA
acid (ESA). degradate) and no or low detections based on
nationally representative finished water data.
15...................... Metolachlor oxanilic acid No..................... Yes.................... Health data gap (no health assessment for OA
(OA). degradate) and no or low detections based on
nationally representative finished water data.
16...................... Molinate................... No..................... Yes.................... Health data gap (OPP health assessment not
completed by fall 2011 due to cancellation of
molinate) and no detections in nationally
representative or other finished water data at
levels of public health concern.
17...................... Molybdenum................. No..................... Yes.................... Health data gap (health assessment not updated
by fall 2011) and no detections in nationally
representative or other finished water data at
levels of public health concern.
18...................... N-Nitrosodiphenylamine Yes.................... No..................... Health data gap (health assessment not updated
(NDPhA). by fall 2011) and occurrence data gaps (no EPA
approved analytical method for monitoring).
19...................... Perfluorooctanesulfonic No..................... No \1\................. Health data gap (health assessment not
acid (PFOS). completed by fall 2011) and occurrence data
gaps (limited other finished water data
available).
20...................... Perfluorooctanoic acid No..................... No \1\................. Health data gap (health assessment not
(PFOA). completed by fall 2011) and occurrence data
gaps (limited other finished water data
available).
21...................... RDX........................ No..................... Yes.................... Health data gap (IRIS health assessment not
updated by fall 2011) and no detections in
nationally representative or other finished
water data at levels of public health concern.
22...................... Vanadium................... No..................... Yes \2\................ Health data gap (health assessment not updated
by fall 2011) and no to low detections in
nationally representative finished water data
at levels of public health concern.
23...................... 1,1,1,2-Tetrachloroethane.. ....................... ....................... Will be evaluated and considered for the
Carcinogenic Volatile Organic Compounds
(cVOCs) group rule addressed in a separate
process.
24...................... 1,2,3-Trichloropropane..... ....................... (\1\).................. Will be evaluated and considered for the
Carcinogenic Volatile Organic Compounds
(cVOCs) group rule addressed in a separate
process.
[[Page 62726]]
25...................... Nitrobenzene............... ....................... ....................... Will be evaluated and considered for the
Carcinogenic Volatile Organic Compounds
(cVOCs) group rule addressed in a separate
process.
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ The UCMR 3 includes sampling at the EPTDS for this contaminant (77 FR 26071, May 2, 2012).
\2\ The UCMR 3 includes sampling at both the EPTDS and DSMRT for this contaminant (77 FR 26071, May 2, 2012). For some contaminants, including
disinfection byproducts and inorganics, occurrence values may differ between the EPTDS and the DSMRT due to dynamics within the distribution system
such as contaminant degradation, formation, accumulation and release.
3. Phase 3 (Regulatory Determination Assessment Phase)
Phase 3, the Regulatory Determination Assessments Phase, involves a
complete evaluation of the statutory criteria for each contaminant or
group of contaminants that proceed from Phase 2 and have sufficient
information and data for making a regulatory determination. In this
phase, the agency evaluates the following statutory criteria:
(a) Statutory Criterion #1--The contaminant may have an adverse
effect on the health of persons. To evaluate statutory criterion #1,
EPA completes any health assessment that needs to be updated and
externally peer-reviewed, and derives a final HRL. The derivation of
the final HRL, further described in the section III.C.1, Evaluation of
Adverse Health Effects, takes into account many of the key elements
that are considered when evaluating criterion #1, which includes the
mode of action, the critical health effect(s), the dose-response for
critical health effect(s), impacts on sensitive populations(s) or
lifestages, the RfD, and/or the cancer slope factor. HRLs are not final
determinations about the level of a contaminant in drinking water that
must not be exceeded to protect any particular population and are
derived prior to the development of a complete exposure assessment.
HRLs are risk derived concentrations against which to evaluate the
occurrence data to determine if contaminants may occur at levels of
potential public health concern. With this information, EPA determines
whether the contaminant ``may have an adverse effect.'' While CCL 3
contaminants are generally expected to meet statutory criterion #1
because their adverse health effects were analyzed as part of the
determination to list them on the CCL, the availability of a final HRL
is derived as part of the first statutory criterion and is necessary to
evaluate the second statutory criterion.
(b) Statutory Criterion #2--The contaminant is known to occur or
there is a substantial likelihood that the contaminant will occur in
public water systems with a frequency and at levels of public health
concern. EPA compares the occurrence data for each contaminant to the
final peer-reviewed HRL to determine if the contaminant occurs at a
frequency and levels of public health concern. The types of occurrence
data used at this stage are described in section III.C.2, Evaluation of
Contaminant Occurrence and Exposure. The agency considers the following
factors when identifying contaminants or contaminant groups that are
occurring at frequencies and levels of public health concern:
How many samples (# and %) have detections > final HRL in
the nationally representative and other finished water occurrence data?
How many systems (# and %) have detections > final HRL in
the nationally representative and other finished water occurrence data?
Is the contaminant associated with a contaminant group
that is of public health concern and is being considered as part of the
DWS?
Is the geographic distribution of the contaminant
occurrence national, regional, or localized?
In addition to the number of systems, what type of systems
does the contaminant occur in? Does the contaminant occur in large or
small systems? Does the contaminant occur in surface or ground water
systems?
Are there significant uncertainties or limitations with
the data and/or analyses, such as the age of the dataset, limitation of
the detection limit (i.e., MRL > final HRL) and/or representativeness
of the data (e.g., limited in scope to a specific region)?
Additional, less important factors that the agency considers when
identifying contaminants or contaminant groups that are of public
health concern also include:
How many samples (# and %) have detections >\1/2\ final
HRL \17\ in the nationally representative and other finished water
occurrence data?
---------------------------------------------------------------------------
\17\ Note that the \1/2\ HRL threshold is based on a
recommendation from the NDWAC working grouping that provided
recommendations on the first regulatory determinations effort.
(USEPA, 2000b)
---------------------------------------------------------------------------
How many systems (# and %) have detections >\1/2\ final
HRL in the nationally representative and other finished water
occurrence data?
How many samples (# and %) have detections > final HRL and
\1/2\ final HRL in the ambient/source water occurrence data?
How many monitoring sites (# and %) have detections >
final HRL and \1/2\ final HRL in the ambient/source water occurrence
data?
Are production and use trends for the contaminant
increasing or decreasing?
How many pounds are discharged annually to surface water
and/or released to the environment?
Do the environmental fate and transport parameters
indicate that the contaminant would persist and/or be mobile in water?
Are there other uncertainties or limitations with the data
and/or analyses for these additional factors that should be considered?
Is the contaminant introduced by water treatment processes
(e.g., disinfection byproducts)?
If a contaminant is known to occur or substantially likely to occur
at a frequency and level of health concern in public water systems
based on the factors listed above, then the agency answers ``yes'' to
the second statutory criterion.
(c) Statutory Criterion #3--In the sole judgment of the
Administrator, regulation of the contaminant presents a meaningful
opportunity for health risk reduction for persons served by public
water systems. EPA evaluates the population exposed at the health level
of concern along with several other factors to determine if regulation
presents a meaningful opportunity for health risk reduction. EPA
considers the following factors in evaluating statutory criterion #3:
Based on the occurrence information for statutory
criterion #2 (and the potential number of systems impacted), what is
the national population exposed or served by
[[Page 62727]]
systems with levels [gteqt] HRL and \1/2\ HRL (provide actual and
estimated # and %)?
What is the nature of the health effect(s) identified in
statutory criterion #1 and are there sensitive populations that may be
impacted (either qualitative or quantitative \18\)?
---------------------------------------------------------------------------
\18\ If appropriate and if available, the agency quantitatively
takes into account exposure data applicable to sensitive populations
or lifestages when deriving HRLs for regulatory determinations. When
data is not available on sensitive populations, the derivation of
the RfD typically includes an uncertainty factor to account for the
weakness in the database. See section III.C.1. Sensitive populations
are also qualitatively considered by providing national prevalence
estimates for a particular sensitive population if available.
---------------------------------------------------------------------------
For non-carcinogens, are there other sources of exposure
that should be considered (i.e., what is the relative source
contribution)?
What is the geographic distribution of occurrence (e.g.,
local, regional, national)?
Are there any uncertainties and/or limitations in the
health and occurrence information or analyses that should be
considered?
What other factors or other pieces of information should
be considered that may have direct bearing on any decision to regulate
the contaminant (e.g., treatment, analytical methods,\19\ etc.)?
---------------------------------------------------------------------------
\19\ If the agency decides to regulate a contaminant, SDWA
requires that EPA issue a proposed regulation within two years of
the final determination (with the possibility of a 9 month
extension). As part of the proposal, the agency must list the best
available technologies (BATs), small system compliance technologies
(SSCTs), and approved analytical methods if it proposes an
enforceable MCL. Alternatively, if EPA proposes a treatment
technique (TT) instead of an MCL, the agency must identify the TT.
EPA must also prepare a health risk reduction and cost analysis.
This analysis includes an extensive evaluation of the treatment
costs and monitoring costs at both system level and aggregated at
the national level. To date, treatment information and approved
analytical methods have not been a significant factor in regulatory
determinations but are important considerations for regulation
development.
---------------------------------------------------------------------------
After evaluating these factors, if the Administrator determines
that there is a meaningful opportunity to reduce risk by regulating the
contaminant in drinking water, then the agency answers ``yes'' to the
third statutory criterion.
If the agency answers ``yes'' to all three statutory criteria in
Phase 3 for a particular contaminant, then the agency makes a
``positive'' preliminary determination and requests public comment.
If after the public comment period, the agency answers ``yes'' to
all three statutory criteria, the agency then makes a ``positive''
final determination that regulation is necessary and proceeds to
develop an MCLG and NPDWR. The agency has 24 months to publish a
proposed MCLG and NPDWR and an additional 18 months to publish a final
MCLG and promulgate a final NPDWR. It should be noted that this
regulatory determination process is distinct from the more detailed
analyses needed to develop a national primary drinking water
regulation. Thus, a decision to regulate is the beginning of the
agency's regulatory development process, not the end.
If a contaminant has sufficient information and the agency answers
``no'' to any of the three statutory criteria, based on the available
data, then the agency considers making a ``negative'' determination
that an NPDWR is not necessary for that contaminant at that time. The
agency may decide to develop a Health Advisory (HA), which provides
non-regulatory concentration values for drinking water contaminants at
which adverse health effects are not anticipated to occur over specific
exposure durations (one-day, ten-days, several years, and a lifetime).
HAs serve as informal technical guidance to assist Federal, State, and
local officials, and managers of public or community water systems
(CWSs) in protecting public health when emergency spills or
contamination situations occur.
While a negative determination is considered a final agency action
for this round of regulatory determinations, the contaminant is
reconsidered for inclusion on the next CCL. If new health or occurrence
information becomes available on contaminants with negative regulatory
determinations, the agency considers whether the contaminant(s) should
be listed on the next CCL and further evaluated in the next regulatory
determinations process.
Of the twelve contaminants that proceeded to Phase 3, the agency is
not making preliminary regulatory determinations for seven contaminants
at this time. The seven contaminants include chlorate and the six
nitrosamines (i.e., NDBA, NDMA, NDPA, NDEA, NPYR, and NMEA). As
discussed in section V, chlorate and the six nitrosamines are DBPs and
the agency plans to consider these contaminants as part of the
regulatory review of existing MDBP regulations. DBPs need to be
evaluated collectively, because the potential exists that the control
of one DBP could affect the concentrations of other DBPs or the
necessary treatment. After evaluating the five remaining CCL 3
contaminants in Table 3 (i.e., dimethoate, 1,3-dinitrobenzene,
strontium, terbufos, and terbufos sulfone) against the three SDWA
criteria and considering the factors listed for each, the agency is
making preliminary regulatory determinations for these five CCL 3
contaminants. Table 5 provides a summary of the five contaminants
evaluated for Phase 3 and the preliminary regulatory determination
outcome. The agency seeks comment on the preliminary determination to
regulate one contaminant (i.e., strontium) and to not regulate the
remaining four contaminants (i.e., dimethoate, 1,3-dinitrobenzene,
terbufos, and terbufos sulfone). Section IV.B of this notice provides a
more detailed summary of the information and the rationale used by the
agency to reach its preliminary decisions for these five contaminants.
Table 5--Contaminants Evaluated in Phase 3 and the Regulatory
Determination Outcome
------------------------------------------------------------------------
Preliminary
No. RD 3 contaminants determination outcome
------------------------------------------------------------------------
1 Dimethoate.............. Do not regulate.
2 1,3-Dinitrobenzene...... Do not regulate.
3 Strontium............... Regulate.
4 Terbufos................ Do not regulate.
5 Terbufos Sulfone........ Do not regulate.
------------------------------------------------------------------------
[[Page 62728]]
B. Supporting Documentation for EPA's Preliminary Determinations
For this action, EPA prepared several support documents that are
available for review and comment in the EPA Water Docket. These support
documents include:
The comprehensive regulatory support document entitled,
``Regulatory Determination 3 Support Document'' (USEPA, 2014b),
summarizes the information and data on the physical and chemical
properties, uses and environmental release, environmental fate,
potential health effects, occurrence and exposure estimates, the
preliminary determinations, and the agency's rationale for these
determinations.
A separate health effects support document for strontium,
entitled ``Health Effects Support Document for Strontium'' (USEPA,
2014c), that addresses exposure from drinking water and other media,
toxicokinetics, hazard identification, and dose-response assessment,
and provides an overall characterization of the risk from drinking
water containing strontium. For the contaminants with negative
determinations, the agency refers the reader to the IRIS or OPP
assessments for more detailed information regarding health effects
(USEPA, 1990a, 1990b, 2003c). These documents serve as the basis for
the health information provided in the regulatory support documents.
A comprehensive technical occurrence support document for
UCMR 2 entitled, ``Occurrence Data from the Second Unregulated
Contaminant Monitoring Rule (UCMR 2)'' (USEPA, 2014d). This occurrence
support document includes more detailed information about UCMR 2, how
EPA assessed the data quality, completeness, and representativeness,
and how the data were used to generate estimates of drinking water
contaminant occurrence in support of these regulatory determinations.
A comprehensive protocol document, entitled ``Protocol for
the Regulatory Determination 3'' (USEPA, 2014a). This protocol document
describes the approach implemented by the agency to evaluate 116 CCL 3
contaminants in a three phase process and select the contaminants for
preliminary determinations for RD 3. The protocol underwent expert
review and the comments received were addressed by the agency.
C. Analyses Used To Support the Preliminary Regulatory Determinations
Sections III.C.1 and 2 of this action outline the health effects
and occurrence/exposure evaluation process EPA used to support these
preliminary determinations.
1. Evaluation of Adverse Health Effects
Section 1412(b)(1)(A)(i) of SDWA requires EPA to determine whether
each candidate contaminant may have an adverse effect on public health.
This section describes the overall process the agency uses to evaluate
health effects, hazard and dose-response information, and the approach
for deriving the health reference level (HRL) for the contaminants
under consideration for regulatory determinations. HRLs are not final
determinations about the level of a contaminant in drinking water that
must not be exceeded to protect any particular population. HRLs are
derived prior to the development of a complete exposure assessment.
HRLs are risk derived concentrations against which to evaluate the
occurrence data to determine if contaminants occur at levels of
potential public health concern. More specific information about the
potential for adverse health effects for each contaminant is presented
in section IV.B of this action.
In evaluating contaminants for regulatory determination, Section
1412 (b)(1)(C) of SDWA also requires the agency to consider among other
factors of public health concern, the effect of such contaminants upon
subgroups that comprise a meaningful portion of the general population
``such as infants, children, pregnant women, the elderly, individuals
with a history of serious illness, or other subpopulations'' that are
identifiable as being at greater risk of adverse health effects
compared to the general population. If appropriate and if available,
the agency quantitatively takes into account data from sensitive
populations and lifestages when deriving HRLs for regulatory
determinations.
There are two general approaches to the derivation of an HRL. One
approach is used for chemicals that cause cancer and exhibit a linear
response to dose and the other applies to non-carcinogens and
carcinogens evaluated using a non-linear approach. The derivation of
HRLs for carcinogens and non-carcinogens are described below.
a. Derivation of an HRL for Carcinogens
For those contaminants that are considered to be likely or probable
human carcinogens by a mutagenic or unknown mode of action (MOA), the
agency calculates a toxicity value that defines the relationship
between dose and response (i.e., the cancer slope factor or CSF).
(1) MOA: Unknown
In cases where the data on the mode of action are lacking, EPA
typically uses a default low dose linear extrapolation to calculate a
CSF. The unit risk is the estimated upper-bound excess lifetime cancer
risk from a continuous exposure to a chemical at a concentration of
0.001 mg/L in drinking water. The exposure estimate assumes an adult
body weight of 70 kg and the 90th percentile adult drinking water
intake of 2 L/day.
Unit Risk ([micro]g/L)-\1\ = CSF x [(DWI x CW)/BW]
Where:
CSF = Cancer Slope Factor (mg/kg/day)-\1\
DWI = Drinking Water Intake for an adult, assumed to be 2 L/day
(90th percentile)
CW = Unit risk concentration in drinking water of 0.001 mg/L (1
[micro]g/L)
BW = Body Weight for an adult, assumed to be 70 kilograms (kg)
The cancer HRL is the concentration of a contaminant in drinking water
corresponding to an excess estimated lifetime cancer risk of one-in-a-
million (1 x 10-\6\), calculated as follows:
HRL ([micro]g/L) = Risk Level of 10-\6\ / Unit Risk
([micro]g/L)-\1\
As noted above, HRLs are not final determinations about the level of a
contaminant in drinking water that must not be exceeded to protect any
particular population. Rather, HRLs are risk derived concentrations
against which to evaluate the occurrence data during the RD process to
determine if contaminants occur at levels of potential public health
concern.
(2) MOA: Mutagenic
If the chemical has a mutagenic mode of action, low dose linear
extrapolation is used to calculate the CSF as described in the
preceding paragraph. The U.S. EPA's 2005 Guidelines for Carcinogen Risk
Assessment (USEPA, 2005b) requires that the potential increased cancer
risk due to early-life exposure be taken into account for chemicals
with a mutagenic mode of action. When chemical-specific data to
quantify the increased risk are lacking, Age Dependent Adjustment
Factors (ADAFs) are applied to estimate age-adjusted unit risks. The
age-adjusted unit risk is determined by using the sum of the unit risks
for each of the three ADAF developmental groups (birth to <2 yrs; 2 yrs
to <16 yrs; 16 yrs to 70 yrs). The age-adjusted unit risks include a
ten-fold adjustment for early life (birth to <2 yrs) exposures, a
three-fold adjustment for childhood/adolescent (2 yrs to <16 yrs)
exposures, and no additional adjustment for exposures later in life (16
yrs to 70 yrs), in conjunction with age-
[[Page 62729]]
specific drinking water intake values derived from the U.S. EPA's 2011
Exposure Factors Handbook (USEPA, 2011e), and the fraction of a 70 year
lifetime applicable to each age period. The increase in risk during
early life results from active tissue growth resulting in limited time
for repair of DNA replication errors. The age-adjusted unit risk is the
upper-bound excess lifetime cancer risk estimated to result from
continuous postnatal exposure to a chemical at a concentration of 0.001
mg/L in drinking water.
Age-Adjusted Unit Risk ([micro]g/L) -\1\ = [sum](CSF x ADAF
x DWI/BWR x CW x F)
Where:
CSF = Cancer Slope Factor (mg/kg/day) -\1\
ADAF = The Age Dependent Adjustment Factor for the age group birth
to two-years (ADAF = 10), two years to sixteen years (ADAF = 3), and
sixteen to seventy years (ADAF = 1)
DWI/BWR = Drinking Water Intake Body Weight Ratio (DWI/BWR)
expressed as liters per kg body weight for the age-specific group
(90th percentile, consumers only) \20\
---------------------------------------------------------------------------
\20\ The drinking water intake values were derived from the data
in the U.S. EPA's Exposure Factors Handbook (USEPA, 2011e). The
procedure used for the data normalization is described in the OW
Policy paper for determining lifetime cancer risks involving early
life exposures (USEPA, 2012c).
---------------------------------------------------------------------------
CW = Unit risk concentration in drinking water of 0.001 mg/L (1
[micro]g/L)
F = The fraction of a 70 year lifetime applicable to the age period:
2/70 for birth to two years, 14/70 for two years to sixteen years
and 54/70 for sixteen years to seventy years
The cancer HRL is the concentration of a contaminant in drinking
water corresponding to an excess estimated lifetime cancer risk of one-
in-a-million (1 x 10-\6\), calculated as follows:
HRL ([micro]g/L) = Risk Level of 10-\6\ / Age-Adjusted Unit
Risk ([micro]g/L) -\1\
The six nitrosamines discussed in section V had data available to
classify them as known or likely human carcinogens with a mutagenic
mode of action. Low-dose linear extrapolations and ADAFs were applied
to all four of the CCL 3 nitrosamines: NDMA, NDPA, NDEA and NYPR, as
well as the two non-CCL 3 nitrosamines, NMEA and NDBA. The five
contaminants for which the agency is making preliminary regulatory
determinations (dimethoate, 1,3-dinitrobenzene, strontium, terbufos and
terbufos sulfone) are non-carcinogens and were therefore evaluated
using the RfD approach (discussed in the following section).
b. Derivation of an HRL for Non-Carcinogens
EPA generally calculates a reference dose (RfD) for those chemicals
considered to be non-carcinogenic or not likely to be carcinogenic to
humans. An RfD is an estimate of a daily oral exposure to the human
population (including sensitive populations or lifestages) that is
likely to be without an appreciable risk of deleterious effects during
a lifetime. The RfD can be derived from either a no-observed-adverse-
effect level (NOAEL), a lowest-observed-adverse-effect level (LOAEL),
or the 95% lower confidence bound on a benchmark dose (BMD), known as a
BMDL, with uncertainty factors applied to reflect limitations of the
data used. In addition, if the critical health endpoint has high
quality data associated with exposure for a specific developmental
group or period of sensitivity, age-specific drinking water intake to
body weight ratio values from the Exposure Factors Handbook (USEPA,
2011e) may be included in deriving an HRL from the RfD.
The agency uses uncertainty factors (UFs) to address uncertainty
resulting from incompleteness of the toxicological database (e.g.,
lacking sensitive population data). The individual UFs (usually applied
as integers of one, three, or ten) are multiplied together and used to
derive the RfD from experimental data. Individual UFs are intended to
account for:
(1) Variation in sensitivity among the members of the human
population (i.e., intraspecies variability);
(2) uncertainty in extrapolating animal data to humans (i.e.,
interspecies variability);
(3) uncertainty in extrapolating from data obtained in a study with
less-than-lifetime exposure to lifetime exposure (i.e., extrapolating
from subchronic to chronic exposure);
(4) uncertainty in extrapolating from an LOAEL rather than from an
NOAEL; and/or
(5) uncertainty associated with an incomplete database.
For chlorate, dimethoate, 1,3-dinitrobenzene, strontium,\21\
terbufos, and terbufos sulfone, EPA derived the HRLs using the RfD
approach as follows:
---------------------------------------------------------------------------
\21\ Because the critical health endpoint had dose-response data
associated with exposure during a specific period of sensitivity
(i.e., sensitive population), EPA used age-specific drinking water
intake to body weight ratio values (DWI/BWR) from the Exposure
Factors Handbook (USEPA, 2011e) to derive the HRL for strontium.
---------------------------------------------------------------------------
HRL (mg/L) = [(RfD x BW)/DWI] x RSC
Where:
RfD = Reference Dose (mg/kg-day)
BW = Body Weight for an adult, assumed to be 70 kilograms (kg); for
a child, assumed to be 10 kg
DWI = Drinking Water Intake for an adult, assumed to be 2 L/day
(90th percentile); for child, assumed to be 1L/day (90th percentile)
RSC = Relative Source Contribution, or the level of exposure
believed to result from drinking water when compared to other
sources (e.g., food, ambient air). In all cases, a 20% RSC is used
for HRL derivation because (1) HRLs are developed prior to a
complete exposure assessment and (2) 20% is the most conservative
RSC used in the derivation of an MCLG for drinking water.
c. Sources of Data/Information for Health Effects
EPA uses the best available peer-reviewed data and analyses in
evaluating adverse health effects. Peer-reviewed health-risk
assessments are available for all chemicals considered for regulatory
determinations from the agency's Integrated Risk Information System
(IRIS) Program, \22\ the agency's Office of Pesticide Programs
(OPP),\23\ the National Academy of Sciences (NAS), the Agency for Toxic
Substances and Disease Registry (ATSDR),\24\ and/or the World Health
Organization (WHO).\25\ For a non-EPA health
[[Page 62730]]
assessment (i.e., NAS, ATSDR, WHO) to be considered for regulatory
determinations, the health assessment must use comparable methods,
standards, and guidelines to an EPA health assessment. Table 6
summarizes the sources of the health assessment data for each chemical
under consideration for RD 3.
---------------------------------------------------------------------------
\22\ IRIS is an electronic EPA data base (www.epa.gov/iris/) containing peer-reviewed information on human health
effects that may result from exposure to various chemicals in the
environment. These chemical files contain descriptive and
quantitative information on hazard identification and dose response,
RfDs for chronic noncarcinogenic health effects, as well as slope
factors and unit risks for carcinogenic effects.
\23\ The OPP is required under the Federal Insecticide Fungicide
and Rodenticide Act (FIFRA) to periodically review the health
effects data on all registered pesticides and reregister them for
continued use. The results of the reregistration analysis are
published in the Reregistration Eligibility Decision (RED)
documents. Copies of the REDs are located at the following EPA Web
site (https://www.epa.gov/oppsrrd1/reregistration/status.htm).
\24\ ATSDR establishes oral minimal risk levels for non-
neoplastic endpoints for acute (14 days or less), intermediate (15--
364 days), and chronic (365 days or more) exposure durations.
Minimal risk levels for oral chronic exposure are similar to EPA's
RfDs. However, ATSDR and EPA use different approaches when the
database is limited to subchronic studies and no adequate chronic
study is available. ATSDR derives an intermediate duration minimal
risk level that protects against exposures up to 10% of a lifetime,
and it does not incorporate an uncertainty factor to account for
using a less-than-lifetime study. ATSDR does not perform
quantitative cancer assessments or assign formal cancer
classifications or descriptors.
\25\ WHO establishes a ``guideline value'', a drinking water
concentration that uses different default assumptions than EPA for
estimating water concentration from doses, including a 60 kg adult
body weight, daily water consumption of 2 L/day, and a data derived
or default RSC of 10%. WHO develops one guideline value that is
based either on cancer or non cancer.
---------------------------------------------------------------------------
The agency performs a literature search for studies published after
the available health assessment is completed to determine if new
information suggests a different outcome. The agency collects and
evaluates any peer-reviewed publications identified through the
literature search for their impact on the RfD and/or cancer assessment.
In cases where the recent data indicate that a change to the existing
RfD or cancer assessment is needed, the EPA Office of Water prepares
and independently peer-reviews an ``OW Assessment'' of the data. EPA
updates all quantitative cancer assessments conducted under the
Guidelines for Carcinogen Risk Assessment (USEPA, 1986) using the
Guidelines for Carcinogen Risk Assessment (USEPA, 2005b), the
Supplemental Guidance for Assessing Susceptibility from Early-life
Exposures to Carcinogens (USEPA, 2005c), and the Exposure Factors
Handbook (USEPA, 2011e). These guidelines include considerations for
contaminants with a mutagenic mode of action and potential risks due to
early childhood exposure.
Table 6--Sources and Dates of EPA Health Risk Assessments
----------------------------------------------------------------------------------------------------------------
OW Assessment
Chemical IRIS (date) OPP RED (date) (date)
----------------------------------------------------------------------------------------------------------------
Dimethoate............................................. ................. 2007 .................
1,3-Dinitrobenzene \1\................................. 1988 ................. .................
Strontium.............................................. 1992 ................. 2012
Terbufos............................................... ................. 2006 .................
Terbufos Sulfone \2\................................... ................. 2006 .................
----------------------------------------------------------------------------------------------------------------
\1\ The agency also reviewed a non-EPA source (ATSDR, 1995) for 1,3-dinitrobenzene to corroborate the IRIS
assessment.
\2\ The OPP RED for the parent compound (terbufos) was used.
As noted in section III.B, EPA prepared a technical Health Effects
Support Document for strontium (USEPA, 2014c). This document addresses
the exposure from drinking water and other media, toxicokinetics,
hazard identification, and dose-response assessment, and provides an
overall characterization of risk from drinking water. For the
contaminants with a preliminary negative determination (i.e., a
decision not to regulate), refer to the EPA health risk assessments
online from OPP or IRIS for additional health effect information.
2. Evaluation of Contaminant Occurrence and Exposure
EPA uses data from many sources to evaluate occurrence and exposure
from drinking water contaminants. The following comprise the primary
sources of finished drinking water occurrence data discussed in this
Federal Register notice:
the Unregulated Contaminant Monitoring Regulation (UCMR 1
and 2),
the National Inorganic and Radionuclide Survey (NIRS), and
Disinfection Byproducts Information Collection Rule (DBP
ICR).
Several of the primary sources of finished water occurrence data
are designed to be statistically representative of the nation. These
data sources include UCMR 1, UCMR 2, and NIRS.\26\ The DBP ICR is
geographically distributed across the country and national in scope but
is not intended to be statistically representative of the nation.
---------------------------------------------------------------------------
\26\ NIRS is designed to be statistically representative of
groundwater systems and does not include surface water systems.
---------------------------------------------------------------------------
The agency also evaluates supplemental sources of information on
occurrence in drinking water, occurrence in ambient and source water,
and information on contaminant use and release to augment and
compliment these primary sources of drinking water occurrence data.
Section III.C.2.a. of this action provides a brief summary of the
primary sources of finished water occurrence data, and sections
III.C.2.b and II.C.2.c provide brief summary descriptions of some of
the supplemental sources of occurrence information and/or data. These
descriptions do not cover all the reports that EPA reviews and
evaluates. For individual contaminants EPA reviews additional published
reports and peer-reviewed studies that may provide the results of
monitoring efforts in limited geographic areas. A summary of the
occurrence data and the results or findings for each of the
contaminants considered for regulatory determination is presented in
section IV.B, the contaminant profiles section, and the data are
described in further detail in the support documents for the RD 3
process (see USEPA, 2014a, b, c and d).
a. Primary Sources of Finished Drinking Water Occurrence Data
As previously mentioned, the primary national sources of the
drinking water occurrence data discussed in this Federal Register
notice are UCMR 1, UCMR 2, NIRS, and the DBP ICR. The following
sections provide a brief summary of these data sources. Table 7 in
section IV lists the primary data source/finding used to evaluate each
of the five contaminants considered for regulatory determinations. The
contaminant-specific discussions in section IV provide more detailed
information about the primary data source findings as well as any
supplemental occurrence information.
(1) The Unregulated Contaminant Monitoring Regulation (UCMR 1 and UCMR
2)
The UCMR is currently EPA's primary vehicle for collecting
monitoring data on the occurrence of unregulated contaminants in PWSs.
The UCMR is designed to collect nationally representative occurrence
data and is developed in coordination with the CCL and Regulatory
Determination process and the National Drinking Water Contaminant
Occurrence Database (NCOD). The UCMR sampling is limited by statute to
30 contaminants during any five year cycle (SDWA section 1445(a)(2))
and the PWSs and State primacy agencies are required to report the data
to EPA. EPA published the list and requirements for the first
Unregulated Contaminant Monitoring Regulation cycle (i.e., UCMR 1) in
September 17, 1999 (64 FR 50556, September 17, 1999, USEPA, 1999; see
also 65 FR 11372, March 2, 2000, USEPA, 2000a; and 66 FR 2273, January
11, 2001, USEPA, 2001a), and the monitoring was conducted primarily
during 2001-2003. UCMR 2 was published on January 4, 2007 (72 FR 367;
USEPA, 2007a), with monitoring
[[Page 62731]]
conducted during 2008-2010. (The complete analytical monitoring lists
are available at: https://water.epa.gov/lawsregs/rulesregs/sdwa/ucmr/.)
The UCMR was designed as a three-tiered approach for monitoring
contaminants related to the availability of analytical methods and
related analytical laboratory capacity. Assessment Monitoring (AM), the
largest sampling tier, typically relies on analytical methods that are
in common use in drinking water laboratories. The Screening Survey
(SS), the second tier, uses newly developed analytical methods that may
not be as commonly used in drinking water laboratories. The SS has
involved a smaller number of PWSs because laboratory capacity is
expected to be limited. The third tier, Pre-Screen Testing was designed
to address contaminants with analytical methods that are in an early
stage of development and the analyses would be limited to a few special
laboratories. The expectation was that it would only involve the
limited number of systems determined to be most vulnerable to the
targeted contaminants. No Pre-Screen Testing was conducted during UCMR
1 or UCMR 2.
EPA designed the AM sampling frame to ensure that sample results
would support a high level of confidence and a low margin of error (see
USEPA, 1999 and 2001b, for UCMR design details). AM is required for all
large PWSs, those serving more than 10,000 people (i.e., a census of
all large systems) and a national statistically representative sample
of 800 small PWSs, those serving 10,000 or fewer people (for a total
sample of approximately 4,000 systems). PWSs that purchase 100% of
their water were not required to participate.
Each system conducts UCMR assessment monitoring for one year
(during the three-year monitoring period). The rules require quarterly
monitoring for surface water systems and twice-a-year, six-month
interval monitoring for ground water systems. At least one sampling
event must occur during a specified vulnerable period. Differing
sampling points within the PWS may be specified for each contaminant
related to the contaminants source(s).
The objective of the UCMR sampling approach for small systems was
to collect contaminant occurrence data from a statistically selected,
nationally representative sample of small systems. The small system
sample was stratified and population-weighted, and included some other
sampling adjustments such as allocating a selection of at least two
systems from each State for spatial coverage. The UCMR AM program
includes systems from all 50 States, the District of Columbia, four
U.S. Territories, and Tribal lands in five EPA Regions. With
contaminant monitoring data from all large PWSs--a census of large
systems--and a statistical, nationally representative sample of small
PWSs, the UCMR AM program provides a robust dataset for evaluating
national drinking water contaminant occurrence.
UCMR 1 AM was conducted by approximately 3,090 large systems and
797 small systems. Approximately 33,800 samples were collected for each
contaminant. In UCMR 2, sampling was conducted by over 3,300 large
systems and 800 small systems, and resulted in over 32,000 sample
results for each contaminant.
As noted, in addition to AM, SS monitoring was required for
contaminants. For UCMR 1, the SS was conducted at 300 PWSs (120 large
and 180 small systems) selected at random from the pool of systems
required to conduct AM. Samples from the 300 PWSs from throughout the
nation provided approximately 2,300 analyses for each contaminant.
While the statistical design of the SS is national in scope, the
uncertainty in the results for contaminants that have low occurrence is
relatively high. Therefore, EPA looked for additional data to
supplement the SS data for regulatory determinations.
For the UCMR 2 SS, EPA improved the design to include a census of
all systems serving more than 100,000 people (approximately 400 PWSs--
but the largest portion of the national population served by PWSs) and
a nationally representative, statistically selected sample of 320 PWSs
serving between 10,001 and 100,000 people, and 480 small PWSs serving
10,000 or fewer people (72 FR 367, January 4, 2007, USEPA, 2007a). With
approximately 1,200 systems participating in the SS, sufficient data
were generated to provide a confident national estimate of contaminant
occurrence and population exposure. In UCMR 2, the 1,200 PWSs provided
more than 11,000 to 18,000 analyses (depending on the sampling design
for the different contaminants).
As previously noted, the details of the occurrence data and the
results or findings for each of the contaminants considered for
regulatory determination is presented in Section IV.B, the contaminant
profiles section, and is described in further detail in the support
documents for the RD 3 process (USEPA, 2014a and 2014b). The national
design, statistical sampling frame, any new analytical methods, and the
data analysis approach for the UCMR program has been peer-reviewed at
different stages of development (see, USEPA, 2001b, 2008c, 2014d, for
example.)
(2) National Inorganics and Radionuclides Survey (NIRS)
EPA conducted the NIRS to provide a statistically representative
sample of the national occurrence of 36 selected inorganic compounds
(IOCs) and radionuclides in CWSs served by ground water. The sample was
stratified by system size and 989 ground water CWSs were selected at
random representing 49 States (all except Hawaii) as well as Puerto
Rico. The survey focused on ground water systems, in part because IOCs
tend to occur more frequently and at higher concentrations in ground
water than in surface water. Each of the selected CWSs was sampled at a
single time between 1984 and 1986.
One limitation of the NIRS is a lack of occurrence data for surface
water systems. EPA also reviews additional finished water data from
State datasets and other sources, as well as data from ambient and
source surface waters, to augment the NIRS data. Information about NIRS
monitoring and data analysis is available in The Analysis of Occurrence
Data from the Unregulated Contaminant Monitoring (UCM) Program and
National Inorganics and Radionuclides Survey (NIRS) in Support of
Regulatory Determinations for the Second Drinking Water Contaminant
Candidate List (USEPA, 2008b).
(3) Disinfection Byproducts Information Collection Rule (DBP ICR)
The DBP ICR (61 FR 24353, May 14, 1996 (USEPA, 1996)) required PWSs
serving at least 100,000 people to monitor and collect data on DBPs
from July 1997 to December 1998. The DBP ICR data were collected from
296 water systems that provided extensive information on the occurrence
of DBPs and on water treatment methods. The DBP ICR data were collected
as part of a national project to support development of national
disinfection by-products and microbial drinking water standards. EPA
used the data to identify national and regional patterns and overall
water quality, not to reach system-by-system or treatment plant-by-
treatment plant conclusions. Additional details on the data collection
process for the DBP ICR, along with an independent analysis of the
data, can be found in a report sponsored by the Microbial/Disinfection
Products Council (McGuire et al., 2002).
[[Page 62732]]
The DBP ICR provided a census of the largest systems that serve the
largest proportion of the population served by PWSs at that time. It
has previously been vetted for use in regulatory development, and EPA
determined it can be used in the regulatory determination process.
b. Supplemental Sources of Finished Drinking and Ambient Water
Occurrence Data
The agency evaluates several sources of supplemental information
related to contaminant occurrence in finished water and ambient and
source waters to augment the primary drinking water occurrence data.
Some of these sources were part of other agency information gathering
efforts or submitted to the agency in public comment or suggested by
stakeholders during previous CCL and Regulatory Determination efforts.
These supplemental data are useful to evaluate the likelihood of
contaminant occurrence in drinking water and/or to more fully
characterize a contaminant's presence in the environment and
potentially in source water, and to evaluate any possible trends or
spatial patterns that may need further review. The descriptions that
follow do not cover all the reports that EPA used. For individual
contaminants EPA reviewed additional published reports and peer-
reviewed studies that may have provided the results of monitoring
efforts in limited geographic areas. A more detailed discussion of the
supplemental sources of information/data that EPA evaluated and the
occurrence data for each contaminant can be found in the comprehensive
regulatory determination support documents (USEPA, 2014a and 2014b).
(1) Individual States' Data
To support the second Six-Year Review of regulated contaminants
(see USEPA, 2009b), EPA issued an ICR to collect compliance monitoring
data from PWSs for the time period covering 1998-2005. After issuing
the ICR, EPA received monitoring data from 45 States plus Region 8 and
Region 9 Tribes. Six States and Region 9 Tribes also provided
monitoring data for unregulated contaminants along with their
compliance monitoring data. EPA further collected additional
unregulated contaminant data from two additional States that provide
monitoring data through their Web sites. EPA reviews these datasets
during the RD 3 process. These datasets vary from State to State in the
contaminants included, the number of samples, and the completeness of
monitoring. They are reviewed and used to augment the national data and
assess if they provide supportive observations or any unique occurrence
results that might warrant further review.
(2) Community Water System Survey (CWSS)
EPA periodically conducts the CWSS to collect data on the financial
and operating characteristics from a nationally representative sample
of CWSs. As part of the CWSS, all systems serving more than 500,000
people receive the survey. In the 2000 and 2006 CWSS, these very large
systems were asked questions about the occurrence and concentration of
unregulated contaminants in their raw and finished water. The 2000 CWSS
(USEPA, 2002a, 2002b) requested data from 83 very large CWSs and the
2006 CWSS (USEPA, 2009c, 2009d) requested data from 94 very large CWSs.
Not all systems answered every question or provided complete
information on the unregulated contaminants. Because reported results
are incomplete, they are illustrative, not representative, and are only
used as supplemental information.
(3) United States Department of Agriculture (USDA) Pesticide Data
Program (PDP)
Since 1991, the USDA PDP has gathered data on pesticide residues in
food. In 2001 the program expanded to include sampling of pesticide
residues in treated drinking water, and in 2004 some sampling of raw
water was incorporated as well (USDA, 2004). The CWSs selected for
sampling tend to be small and medium-sized water surface water systems
(serving under 50,000 people) located in regions of heavy agriculture.
The sampling frame is designed to monitor in regions of interest for at
least two years to reflect the seasonal and climatic variability during
growing seasons. PDP works with EPA and the American Water Works
Association (AWWA) to identify specific water treatment facilities
where monitoring data are collected. The number of sites and samples
have varied among different sampling periods. EPA reviewed the PDP data
on the occurrence of select contaminants in untreated and treated water
(USDA, 2004).
(4) United States Geological Survey (USGS) Pilot Monitoring Program
(PMP)
In 1999, USGS and EPA conducted the PMP to provide information on
pesticide concentrations in small drinking water supply reservoirs in
areas with high pesticide use (Blomquist et al., 2001). The study was
undertaken, in part, to test and refine the sampling approach for
pesticides in such reservoirs and related drinking water sources.
Sampling sites represent a variety of geographic regions, as well as
different cropping patterns. Twelve water supply reservoirs considered
vulnerable to pesticide contamination were included in the study.
Samples were collected quarterly throughout the year and at weekly or
biweekly intervals following the primary pesticide-application periods.
Water samples were collected from the raw water intake and from the
finished drinking water prior to entering the distribution system. At
some sites, samples were also collected at the reservoir outflow.
(5) United States Geological Survey (USGS) National Water Quality
Assessment (NAWQA)
The USGS instituted the National Water Quality Assessment (NAWQA)
program in 1991 to examine ambient water quality status and trends in
the United States. The NAWQA program is designed to apply nationally
consistent methods to provide a consistent basis for comparisons over
time nationally and among significant watersheds and aquifers across
the country. These occurrence assessments serve to facilitate
interpretation of natural and anthropogenic factors affecting national
water quality. The NAWQA program monitors the occurrence of chemicals
such as pesticides, nutrients, VOCs, trace elements, and radionuclides,
and the condition of aquatic habitats and fish, insects, and algal
communities. For more detailed information on the NAWQA program design
and implementation, please refer to Leahy and Thompson (1994), Hamilton
et al. (2004), and NRC (2002).
The NAWQA program has been designed in ten-year cycles to enable
national coverage that can be used for trends and causal assessments.
In the Cycle 1 monitoring period, which was conducted from 1991 through
2001, NAWQA collected data from over 6,400 surface water and 7,000
ground water sampling points. Cycle 2 monitoring covers the period from
2002 through 2012, with various design changes from Cycle 1 (see
Hamilton et al., 2004).
EPA, with the cooperation of USGS, performed a summary analysis of
all Cycle 1 water monitoring data for the CCL 3 and Regulatory
Determination process. The surface water data consisted of stream
samples; all surface water data were included in the EPA summary
analysis. For ground water, all well data were used and data from
springs and drainage systems were excluded.
[[Page 62733]]
For RD 3, EPA used and evaluated many USGS NAWQA reports to review
causal or spatial factors that USGS may have presented in their
interpretations. In particular, EPA evaluated many reports from the
Pesticide National Synthesis Programs (e.g., Gilliom et al., 2007) and
the VOC National Synthesis (e.g., Delzer and Ivahnenko, 2003). While
there is overlap in the data used in the USGS reports and the EPA
analysis, the USGS reports can provide unique observations related to
their synthesis of additional data.
For RD 3, EPA also supplemented these data with information from
recent special USGS reports that also used additional data from other
programs, particularly reports that focused on contaminant occurrence
in source waters for PWSs, such as: Organic Compounds in Source Water
of Selected Community Water Systems (Hopple et al., 2009 and Kingsbury
et al., 2008), and Water Quality in Public-Supply Wells (Toccalino et
al., 2010).
(6) Storage and Retrieval (STORET) Data System
EPA's STORET database contains raw biological, chemical, and
physical data from surface and ground water sampling conducted by
Federal, State and local agencies, Indian Tribes, volunteer groups,
academics, and others. A wide variety of data relating to water quality
from all 50 States as well as multiple territories and jurisdictions of
the United States are represented in this data system. These are
primarily ambient water data, but in some cases they include finished
drinking water data. STORET data have quality limitations. There are
few restrictions on submission of data based on analytical methods,
quality assurance (QA) practices, etc. For more general STORET data
information, please refer to: https://www.epa.gov/storet/. EPA
reviewed STORET ground water data from wells and surface water data
from lakes, rivers/streams, and reservoirs.
c. Supplemental Production, Use and Release Data
The agency reviews various sources of information to assess if
there are changes or trends in a contaminant's production, use, and
release that may affect its presence in the environment and potential
occurrence in drinking water. The cancellation of a pesticide or a
clear increase in production and use of a contaminant are trends that
can inform the regulatory determination process. A more detailed
discussion of the supplemental sources of information/data that EPA
evaluated and the occurrence data for each contaminant can be found in
the comprehensive regulatory determination support documents (USEPA,
2014a and 2014b). Several sources are described in more detail below.
(1) Chemical Update System/Inventory Update Rule (CUS IUR)
The IUR regulation requires manufacturers and importers of certain
chemical substances, included on the Toxic Substances Control Act
(TSCA) Chemical Substance Inventory, to report site and manufacturing
information and the amount of chemicals produced or imported in amounts
of 25,000 pounds or more at a single site. Additional information on
domestic processing and use must be reported for chemicals produced or
imported in amounts of 300,000 pounds or more at a single site. Prior
to the 2003 TSCA Amendments (i.e., reporting from 2002 or earlier),
information was collected for only organic chemicals that were produced
or imported in amounts of 10,000 pounds or more, and was limited to
more basic manufacturing information such as production volume. Because
of changes in reporting rules, contaminants may have reports for some
years but not others (USEPA, 2010a).
(2) Toxic Release Inventory (TRI)
EPA established the Toxics Release Inventory (TRI) in 1987 in
response to Section 313 of the Emergency Planning and Community Right-
to-Know Act (EPCRA). EPCRA Section 313 requires facilities to report to
both EPA and the States annual information on toxic chemical releases
from facilities that meet reporting criteria. The TRI database details
not only the types and quantities of toxic chemicals released to the
air, water, and land by facilities, but also provides information on
the quantities of chemicals sent to other facilities for further
management (USEPA, 2002c, 2003b). Currently, for most chemicals the
reporting thresholds are 25,000 pounds for manufacturing and processing
and 10,000 pounds for use. Both the number and type of facilities
required to report has increased over time.
Although TRI can provide a general idea of release trends, it has
limitations because of the reporting changes over time. Finally, TRI
data are meant to reflect ``releases'' and should not be used to
estimate general public exposure to a chemical (USEPA, 2002c).
(3) Pesticide Usage Estimates
For the regulatory determinations process, the agency reviews
various sources of information about pesticide usage. SDWA directs EPA
to consider pesticides in the CCL process. Pesticide use and
manufacturing information is considered confidential business
information and therefore, accurate measures of production and use are
not publically available. As a result, the agency reviews various
estimates of use as supplemental information in the deliberative
process.
Occasionally, EPA presents estimations of annual U.S. usage of
individual pesticides in its pesticide reregistration documents (e.g.,
Reregistration Eligibility Decisions or (REDs), Interim Reregistration
Eligibility Decisions (IREDs), Tolerance Reassessment Progress and Risk
Management Decisions (TREDs)). EPA also periodically issues Pesticides
Industry Sales and Usage reports. The reports provide contemporary and
historical information on U.S. pesticide production, imports, exports,
usage, and sales, particularly with respect to dollar values and
quantities of active ingredient. The most recent report presents data
from the years 2000 and 2001 (USEPA, 2004).
The National Center for Food and Agricultural Policy (NCFAP), a
private non-profit institution, has also produced national pesticide
use estimates based on USDA State-level statistics and surveys for
commercial agriculture usage patterns and State-level crop acreage. The
database contains estimates of pounds applied and acres treated in each
State for 220 active (pesticide) ingredients and 87 crops. The majority
of the chemicals monitored are herbicides, but the database also
follows significant numbers of fungicides and insecticides (NCFAP,
2000).
The USGS produced usage estimates and maps for over 200 pesticides
used in United States crop production, providing spatial insight to the
regional use of many pesticides (USGS, 2007). These pesticide use
estimates were generated by the USGS through State-level estimates of
pesticide usage rates for individual crops that were compiled by the
CropLife Foundation and the Crop Protection Research Institute,
combined with county-level data on harvested crop acreage obtained from
the 2002 Census of Agriculture.
IV. Contaminant-Specific Discussions for the RD 3 Preliminary
Regulatory Determinations
A. Summary of the Preliminary Regulatory Determination
Based on EPA's evaluation of the three SDWA criteria (discussed in
section II.B.1), the agency is making
[[Page 62734]]
preliminary determinations to regulate one contaminant and to not
regulate four contaminants. Table 7 summarizes the primary health and
occurrence information used to make these preliminary regulatory
determinations. Section IV.B of this notice provides a more detailed
summary of the information and the rationale used by the agency to
reach its preliminary decisions for these five contaminants.
Table 7--Summary of the Health and Occurrence Information and the Preliminary Determinations for the Five Contaminants Considered for Regulatory Determinations 3
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
Occurrence findings from primary data sources
------------------------------------------------------------------------------------------------------
Health Population served by Preliminary
No. RD 3 contaminants reference Primary PWSs with at least 1 PWSs with at least 1 PWSs with at least 1 Population served by determination
level (HRL) database detection >=\1/2\ detection >=\1/2\ detection >=HRL PWSs with at least 1
HRL HRL detection >=HRL
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
1................................ Dimethoate.......... 15.4 [mu]g/L UCMR0% (0 of 4138)...... 0% (0 of 229M)...... 0% (0 of 4138)...... 0% (0 of 229M)...... Do not regulate.
2................................ 1,3-Dinitrobenzene.. 0.7 [mu]g/L UCMR0% (0 of 4137)...... 0% (0 of 229M)...... 0% (0 of 4137)...... 0% (0 of 229M)...... Do not regulate.
3................................ Strontium........... 1,500 [mu]g/ NIRS 14.3% (141 of 989).. 16.6% (246K of 1.5M) 7.0% (69 of 989).... 10.7% (158.5K of Regulate.
L 1.5M).
4................................ Terbufos............ 0.35 [mu]g/L UCMR0% (0 of 295)....... 0% (0 of 41M)....... 0% (0 of 295)....... 0% (0 of 41M)....... Do not regulate.
5................................ Terbufos Sulfone.... 0.35 [mu]g/L UCMR0.02% (1 of 4138)... 0.01% (44.6K of 0.02% (1 of 4138)... 0.01% (44.6K of Do not regulate.
229M). 229M).
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
B. Contaminant Profiles
This section provides further information on the background,
health, and occurrence data that the agency uses to evaluate each of
the five candidate contaminants considered for regulatory
determinations. For each candidate, the agency evaluates the available
human and toxicological data, derives a health reference level, and
evaluates the potential and/or likely occurrence and exposed population
for the contaminant in public water systems. The agency also considers
whether information is available on sensitive populations. The agency
uses the findings from these evaluations to determine whether the three
SDWA statutory criteria are satisfied. The agency also prepares a
regulatory support document (USEPA, 2014b) that provides more details
on the background, health, and occurrence information/analyses used to
evaluate and make preliminary determinations for these five
contaminants.
1. Dimethoate
a. Background
Dimethoate is an organophosphate pesticide, commonly used as an
insecticide on field crops (e.g., wheat, alfalfa, corn, and cotton),
orchard crops, vegetable crops, and in forestry. Synonyms for
dimethoate include dimethogen, dimeton, dimevur, and cygon (HSDB, 2009;
USEPA, 2007b). EPA has estimated that the total annual average domestic
use of dimethoate is approximately 1.8 million pounds (USEPA, 2007b).
EPA's most recent Pesticide Industry Sales and Usage reports indicate
that the amount of dimethoate active ingredient (a.i.) used in the
United States was between 1 and 2 million pounds in 1999 and 2001, and
less than 1 million pounds in 2005 and 2007 (USEPA, 2004: USEPA,
2011f). TRI data from the years 1997 to 2010 show that annual releases
to various sources range from tens of pounds to tens of thousands of
pounds, with the larger releases occurring only occasionally and in no
clear pattern (USEPA, 2012a). For example, reported on-site air
emissions were in the range of tens of pounds for 1997-2005 but
increased to the range of thousands of pounds in 2006-2010. The only
reported non-zero release by underground injection was in 2004 and was
over 28,000 pounds. Reported on-site releases to surface water and land
were low or non-existent in most years, but peaked suddenly at nearly
20,000 pounds in 1998 (land) and over 2,000 pounds in 2004 (surface
water). Dimethoate is considered highly mobile and relatively non-
persistent in the environment (USEPA, 2007b).
b. Statutory Criterion #1 (Adverse Health Effects)
Dimethoate meets the SDWA statutory criterion #1 for regulatory
determinations; it may have an adverse effect on the health of persons.
Dimethoate belongs to a group of pesticides called organophosphates,
which share a common MOA. Organophosphates affect the proper function
of the nervous system by inhibiting cholinesterase (ChE), an important
enzyme involved in neurotransmission. Inhibition of ChE in the brain,
plasma, and red blood cells is the most sensitive endpoint described in
numerous studies with adult and juvenile animals, following oral,
dermal, or inhalation exposures of dimethoate or its primary toxic
metabolite omethoate (USEPA, 2007b). As discussed in the 2007 OPP
assessment, the U.S. EPA's Cancer Assessment Review Committee (CARC)
classified dimethoate as a Group C carcinogen (a possible human
carcinogen) in 1991, with concurrence from the FIFRA Scientific
Advisory Panel (SAP) on the agency's classification in 1992 (USEPA,
2007b).
The 2007 OPP assessment established a chronic oral RfD for
dimethoate of 0.0022 mg/kg/day based on a 2-year feeding study in rats
with inhibition of brain ChE as the critical effect (USEPA, 2007b). The
RfD was derived using the BMD method and based on the lower 95%
confidence limit (BMDL) of 0.22 mg/kg/day, with application of a
composite UF of 100 (i.e., intraspecies and interspecies variability).
EPA calculated a non-cancer HRL of 15.4 [mu]g/L for dimethoate using
the RfD of 0.0022 mg/kg/day for a 70 kg adult ingesting 2 L of drinking
water per day and an RSC of 20%. The chronic RfD and subsequent HRL of
15.4 [mu]g/L for dimethoate are considered to be protective of any
potential cancer risk or acute ChE effects (USEPA, 1990a, 2007b). The
OPP RED (USEPA, 2007b) presents more detailed information
[[Page 62735]]
about the potential health effects for dimethoate.
c. Statutory Criterion #2 (Occurrence at Frequency and Levels of Public
Health Concern)
Dimethoate does not meet the SDWA statutory criterion #2 for
regulatory determinations; it does not occur with a frequency and at
levels of public health concern in public water systems based on EPA's
evaluation of the following occurrence information.
The primary data for dimethoate are recent (2008-2010) nationally-
representative drinking water monitoring data, generated through EPA's
UCMR 2. Dimethoate was not detected in any of the 32,013 UCMR 2 samples
collected by 4,138 PWSs (serving ~ 230 million people) at levels
greater than the \1/2\ HRL (7.7 [mu]g/L), the HRL (15.4 [mu]g/L), or
the MRL (0.7 [mu]g/L) (USEPA, 2014d).
The State of California reported results from testing more than
20,000 finished drinking water samples from over 2,000 PWSs and
dimethoate was detected in two samples from two different PWSs. The
detected concentrations (1 [mu]g/L and 2 [mu]g/L) were less than the
\1/2\ HRL (7.7 [mu]g/L) and the HRL (15.4 [mu]g/L) (see USEPA, 2014b).
The USDA PDP monitored for dimethoate in finished water from 2001 to
2009 and had only two detections in 3,555 samples; both detected
concentrations were less than the \1/2\ HRL and the HRL (USDA, 2012).
The USGS PMP monitored for dimethoate in finished water in 1999 and had
no detections greater than \1/2\ the HRL or the HRL in any of the 221
samples (Blomquist et al., 2001).
Dimethoate occurrence data for ambient water are consistent with
those for finished drinking water. The USGS PMP also monitored for
dimethoate in ambient water in 1999 and had no detections greater than
the \1/2\ HRL (7.7 [mu]g/L) or the HRL (15.4 [mu]g/L) in any of the 317
samples (Blomquist et al., 2001). Ambient water data from a two-phase
USGS study conducted between 2002 and 2005 by Hopple et al. (2009) and
Kingsbury et al. (2008) reported no detections in the 221 Phase 1
groundwater samples. Only two detections were reported from 146 Phase 1
surface water samples at nine PWSs. The highest concentration detected
was 0.009 [mu]g/L, which is less than the \1/2\ HRL and the HRL. In
Phase 2, there were no detections of dimethoate from 48 raw and
finished water groundwater samples (Hopple et al., 2009; Kingsbury et
al., 2008). Ambient water data in STORET included no measured results
above 0.44 [mu]g/L in 5,299 samples from 798 sites (USEPA, 2012b).
Ambient water data reported by the California Department of Pesticide
Regulation included no measured results above 2.4 [mu]g/L (USEPA,
2007b).
d. Statutory Criterion #3 (Meaningful Opportunity)
EPA finds that dimethoate does not meet the SDWA statutory
criterion #3 for regulatory determinations; regulation of dimethoate
does not present a meaningful opportunity health risk reduction for
persons served by PWSs based on the estimated exposed population,
including sensitive populations. The estimated population exposed to
dimethoate at levels of public health concern is 0%; it was not found
to occur at levels above the HRL (or the \1/2\ HRL) in 4,138 PWSs and
32,013 samples from the UCMR 2 monitoring. In addition, other
supplementary sources of finished water and ambient water data indicate
that the occurrence of dimethoate in PWSs is likely to be low to non-
existent. As a result, the agency finds that an NPDWR for dimethoate
does not present a meaningful opportunity for health risk reduction.
EPA also evaluated whether health information is available
regarding the potential health effects on children and other sensitive
populations. The database for dimethoate includes a 3-generation
reproductive study in mice, developmental (teratology) studies in rats
and rabbits, and a neurodevelopmental toxicity study (USEPA, 1990a,
2007b). The critical effect of ChE inhibition is a more sensitive
endpoint compared to the reproductive and developmental endpoints
(USEPA, 2007b); therefore no sensitive populations were identified or
characterized. The OPP RED (USEPA, 2007b) presents more detailed
information about the potential health effects and sensitive
populations for dimethoate.
e. Preliminary Regulatory Determination
The agency is making a preliminary determination to not regulate
dimethoate with an NPDWR after evaluating health, occurrence, and other
related information against the three SDWA statutory criteria. While
data suggests that dimethoate may have an adverse effect on human
health, the occurrence data indicate that dimethoate is not occurring
or not likely to occur in PWSs with a frequency and at levels of public
health concern. Therefore, the agency finds that an NPDWR would not
present a meaningful opportunity to reduce health risk for persons
served by PWSs. The Regulatory Determinations 3 Support Document
(USEPA, 2014d) and the Occurrence Data from the Second Unregulated
Contaminant Monitoring Regulation (UCMR 2) (USEPA, 2014a) present
additional information and/or analyses supporting the agency's
evaluation of dimethoate.
2. 1,3-Dinitrobenzene
a. Background
1,3-Dinitrobenzene is a nitro aromatic compound that is used as an
industrial chemical and formed as a by-product in the manufacture of
munitions as well as in the production of other substances (HSDB,
2009). There are no known natural sources of 1,3-dinitrobenzene. Annual
production and importation of 1,3-dinitrobenzene in the United States
was last reported by CUS-IUR in 1986 to be between 10-50 million pounds
(USEPA, 2010b). TRI data indicate 19,858 pounds were released to the
environment by industry in 2008 and 10,595 pounds in 2010 (USEPA,
2012a). 1,3-dinitrobenzene appears to be moderately persistent in
environmental media and moderately mobile in soil and water, though in
soils with high clay content it will be less mobile (USEPA, 2014b).
b. Statutory Criterion #1 (Adverse Health Effects)
1,3-dinitrobenzene meets the SDWA statutory criterion #1 for
regulatory determinations; it may cause adverse effect on the health of
persons. 1,3-dinitrobenzene has demonstrated adverse health effects in
many rodent and occupational studies. Occupational studies indicate
that methemoglobinemia, hemolytic anemia, and cyanosis are seen in
workers who experience an acute reaction to 1,3-dinitrobenzene (Hajjar
et al., 1992). The EPA IRIS assessment (USEPA, 1990b) of the
carcinogenicity of 1,3-dinitrobenzene currently lists it as Group D
(not classifiable as to human carcinogenicity).
The primary adverse biological effects from exposure to 1,3-
dinitrobenzene are on red blood cells, spleen, and testes. The RfD for
1,3-dinitrobenzene is 0.0001 mg/kg/day (Cody et al., 1981). The RfD was
derived from a NOAEL of 0.4 mg/kg/day in a subchronic oral study in
rats where increased spleen weight was identified as the critical
effect (Cody et al., 1981). A composite UF of 3,000 (intraspecies
variability, interspecies variability, subchronic to chronic duration,
and lack of chronic, developmental, and multigenerational reproductive
toxicity studies) was
[[Page 62736]]
applied to the NOAEL to obtain the RfD. EPA calculated a non-cancer HRL
of 0.7 [mu]g/L for 1,3-dinitrobenzene using the RfD of 0.0001 mg/kg/day
for a 70 kg adult ingesting 2 L of drinking water per day and an RSC of
20%.
The current EPA oral RfD value is supported by a more recent 1,3-
dinitrobenzene assessment that was conducted by ATSDR, in which an oral
intermediate duration minimal risk level of 0.0005 mg/kg/day for
splenic hemosiderosis in male rats was established using a LOAEL of
0.54 mg/kg/day (Linder et al., 1986; dose adjusted for a 7-day/week
exposure) and a composite UF of 1,000 (intraspecies variability and
interspecies variability, LOAEL to NOAEL). Based on EPA assumptions and
a composite UF of 3,000 (intraspecies variability, interspecies
variability, LOAEL to NOAEL and subchronic to chronic duration) applied
to the LOAEL of 0.54 mg/kg/day, the resultant HRL value of 1 [mu]g/L
supports the HRL value of 0.7 [mu]g/L derived from the IRIS RfD (ATSDR,
1995). The IRIS assessment (USEPA, 1990b) presents more detailed
information about the potential health effects for 1,3-dinitrobenzene.
c. Statutory Criterion #2 (Occurrence at Frequency and Levels of Public
Health Concern)
1,3-dinitrobenzene does not meet the SDWA statutory criterion #2
for regulatory determinations; it does not occur with a frequency and
at levels of public health concern in public water systems based on
EPA's evaluation of the following occurrence information.
The primary data for 1,3-dinitrobenzene are recent (2008-2010)
nationally-representative drinking water monitoring data generated
through EPA's UCMR 2 (USEPA, 2014d). UCMR 2 is the only dataset with
finished water data for this contaminant. UCMR 2 collected 32,017
samples from 4,137 PWSs and 1,3-dinitrobenzene was not detected above
the MRL (0.8 [mu]g/L), which is only slightly higher than the HRL (0.7
[mu]g/L).
Findings from the available ambient water data for 1,3-
dinitrobenzene are consistent with the results in finished water.
Ambient water data in STORET included no measured results above 0.33
[mu]g/L in 143 samples from 70 sites (USEPA, 2012b). It should be noted
that some occurrence above the HRL may have gone undetected since
reporting levels are not documented.
d. Statutory Criterion #3 (Meaningful Opportunity)
EPA finds that 1,3-dinitrobenzene does not meet the SDWA statutory
criterion for regulatory determinations; regulation of 1,3-
dinitrobenzene does not present a meaningful opportunity for health
risk reduction for persons served by PWSs based on the estimated
exposed population, including sensitive populations. The estimated
population exposed to 1,3-dinitrobenzene at or above the MRL is 0%; it
was not found to occur in finished drinking water at levels > MRL (0.8
[mu]g/L), which is only slightly higher than the HRL (0.7 [mu]g/L), in
32,017 samples and 4,137 PWSs from the UCMR 2 monitoring. As a result,
the agency finds that an NPDWR for 1,3-dinitrobenzene does not present
a meaningful opportunity for health risk reduction.
EPA also evaluated whether information is available regarding the
potential health effects on children and other sensitive populations.
Individuals with a genetic predisposition to methemoglobinemia
(estimated prevalence in the general population = 1% or 1 per 100) and/
or hemosiderosis, neonates, and those co-exposed to other hemolytic
agents, could be more sensitive to exposure to 1,3-dinitrobenzene
(ATSDR, 1995; Jaffe and Hultquist, 1989). Males having sperm production
complications could also have increased sensitivity to 1,3-
dinitrobenzene exposure (Hajjar et al., 1992). There is currently no
multigenerational animal study available for 1,3-dinitrobenzene, and no
data available from studies of 1,3-dinitrobenzene developmental
toxicity (Hajjar et al., 1992). However, the RfD incorporated a UF for
this database deficiency. The IRIS assessment (USEPA, 1990b) presents
more detailed information about the potential health effects and
sensitive populations for 1,3-dinitrobenzene.
e. Preliminary Regulatory Determination for 1,3-dinitrobenzene
The agency is making a preliminary determination to not regulate
1,3-dinitrobenzene with an NPDWR after evaluating health, occurrence,
and other related information against the three SDWA statutory
criteria. While data suggest that 1,3-dinitrobenzene may have an
adverse effect on human health, the occurrence data indicate that 1,3-
dinitrobenzene is not occurring or not likely to occur in PWSs with a
frequency and at levels of public health concern. Therefore, the agency
has determined that an NPDWR for 1,3-dinitrobenzene would not present a
meaningful opportunity to reduce health risk for persons served by
PWSs. The Regulatory Determinations 3 Support Document (USEPA, 2014b)
and the Occurrence Data from the Second Unregulated Contaminant
Monitoring Regulation (UCMR 2) (USEPA, 2014d) present additional
information and analyses supporting the agency's evaluation of 1,3-
dinitrobenzene.
3. Strontium
a. Background
Strontium is a naturally occurring element (atomic number 38) and a
member of the alkaline earth metals (ANL, 2007). There are several
radioactive strontium isotopes formed by nuclear fission of uranium or
plutonium. The best known is \90\Sr, a legacy from above ground testing
of the atomic bomb (half-life 29 years). Since drinking water
contamination by radioactive isotopes, including beta particle
emitters, is covered under the existing radionuclides rule, this FR
notice deals primarily with the stable \88\Sr isotope which represents
83% of total environmental strontium (ATSDR, 2004).
Strontium mineral mining ceased in the United States in 1959. The
United States imports both strontium minerals for refining and refined
strontium containing compounds (USGS, 2009). Imports of strontium
minerals and compounds were approximately 31,000 to 38,500 metric tons
from 1994 to 2001 and have declined since 2001 (ATSDR, 2004; USGS,
2009). In the United States, total consumption of strontium minerals
and compounds was 16,700 metric tons of strontium content in 2004 and
approximately 7,750 metric tons in 2008 (USGS, 2009).
Historically, the most important commercial use of strontium has
been in the faceplate glass of cathode-ray tube televisions to block x-
ray emissions (ATSDR, 2004). Conversely, flat panel televisions
incorporating LCD or Plasma displays are not capable of emitting x-
radiation; therefore, they do not require strontium (FDA, 2011). As
flat panel technology has become widespread in the United States in the
last decade, demand for strontium for this application has fallen
(USGS, 2009). In 2008, approximately 30% of commercial strontium
consumption was in pyrotechnics and signals (as strontium nitrate and
other compounds), 30% in ferrite ceramic magnets (as strontium
ferrite), 10% in master alloys (as strontium metal), 10% in pigments
and fillers (as strontium chromate), 10% in electrolytic production of
zinc (as strontium carbonate), and 10% in other applications such as
fluorescent lights (strontium phosphate), toothpaste (strontium
chloride), and medicines (strontium chloride and strontium peroxide).
The feed material for most
[[Page 62737]]
applications is strontium carbonate (ATSDR, 2004; HSDB, 2010; USGS,
2009). Strontium can exist in oxidation states 0 and +2; under normal
environmental conditions it is found in the +2 oxidation state in
various ionic or salt forms. Strontium is considered to have moderate
or moderate-to-low mobility in soils. The mobility of strontium in
water can increase with increased salt concentrations due to a decrease
in sorption to sediments (USEPA, 20104b). The Regulatory Determination
3 Support Document (USEPA, 2014b) for this notice presents more
detailed background information on strontium.
b. Statutory Criterion #1 (Adverse Health Effects)
Strontium meets the SDWA statutory criterion #1 for regulatory
determinations; it may have an adverse effect on the health of persons.
The primary target of strontium exposure is the bone. The chemical
similarity of strontium to calcium allows it to exchange imperfectly
for calcium in a variety of biological processes; the most important of
these is the substitution of calcium in bone, affecting skeletal
development. Due to the MOA for strontium toxicity, strontium uptake
into bone is affected by the intake of nutrients related to bone
formation, such as calcium, phosphorous, and vitamin D (Clarke, 2008;
Grynpas and Marie, 1990; Marie et al., 1985). The decreased
calcification in bones results in increased width of the epiphyseal
cartilage, changes in the pattern of calcification, abnormally long
metaphyses, reduction in bone mineralization, and active osteoclasts in
young rats (Marie and Hott, 1986; Matsumoto, 1976; Neufeld and Boskey,
1994; Storey, 1961). Due to this effect on growing bones, infants,
children, and adolescents are of particular concern as a sensitive
population.
A study based on decreased bone calcification rate in male weanling
rats (i.e., comparable to the sensitive time period in humans), which
administered strontium chloride in drinking water for nine weeks (Marie
et al., 1985), was identified by EPA as the critical study for RfD
determination. The RfD was established by using the BMD method and
based on the lower 95% confidence limit (BMDL) of 328 mg/kg/day for a
one standard deviation decrease in bone calcification compared to
control. Using a composite UF of 1000 (10 for intraspecies variability,
10 for interspecies variability, and 10 for database uncertainties) the
RfD for strontium is calculated to be 0.3 mg/kg/day. This RfD is
supported by additional studies reporting bone effects on weanling rats
at similar dose levels (Grynpas and Marie, 1990; Storey, 1961). EPA
calculated a non-cancer HRL of 1500 [micro]g/L for strontium using the
RfD of 0.3 mg/kg/day, a default RSC of 20% and age-specific exposure
factors (i.e., drinking water intake expressed as liters per kg of body
weight) for the sensitive population of birth through 18 years to
reflect the most active period of bone growth and development (see
section IV.B.10.d.3).
EPA released an IRIS assessment for strontium in 1992 and developed
an RfD of 0.6 mg/kg/day based on the Storey, 1961 study. The IRIS
assessment was completed before the 1998 changes to the IRIS program
wherein the agency develops and peer reviews a detailed Toxicological
Review before posting an IRIS summary. The point of departure for the
1992 IRIS RfD of 0.6 mg/kg/day is a NOAEL of 190 mg Sr/kg-day with a
composite UF of 300 (10 for interspecies variability, 3 for
intraspecies variability, and 10 for database uncertainties). This
would yield an HRL of 3000 [micro]g/L, using the same age-specific
exposure adjustment factors described above. If the age-specific
exposure adjustment factors were not used, the HRL would be 2000
[micro]g/L based on the OW assessment, or 4000 [micro]g/L based on the
IRIS assessment. As noted in section III.C.1.c, EPA evaluates the
existing data and performs a literature search for studies published
after the available health assessment is completed to determine if new
information suggests a different outcome. In cases where the review
suggests that a change the existing RfD or cancer assessment is needed,
the EPA Office of Water prepares and independently peer-reviews an OW
Assessment of the data. In the case of strontium and because newer
information provided additional support for the 1985 Marie et al.
study, EPA chose to use the BMDL of 328 mg/kg/day from Marie et al.,
(over the 1961 Storey study) for the following reasons: (a) Marie et
al., (1985) reported the doses rather than estimated the doses; (b) the
study duration was longer (63 days for Marie as compared to 20 days for
Storey); (c) the monitoring of the bone effects for Marie et al.,
(1985) was more quantitative than the photomicrographs evaluated by
Storey (1961); (d) dosing was provided via drinking water, the medium
of interest (rather than a weakly soluble SrCO3 in the diet); (e) Marie
et al., (1985) reported the strain of rats and the age of the animals,
at the time that dosing was initiated and completed; (f) the data were
amenable to dose-response modeling to identify the BMD and BMDL; and
(g) the dietary calcium provided in the Storey study was three times
higher than that in the Marie study, making those rats less at risk due
to the calcium and strontium competition for uptake, as verified by a
comparison of serum data from the two studies. The OW assessment uses a
10x uncertainty factor for intraspecies variability, rather than the 3x
factor used in the 1992 IRIS assessment because it is not clear if the
window of vulnerability was adequately captured, since the weanling
rats were exposed only for 28-63 days, a period that did not include
exposure during gestation, lactation, and through young adulthood. EPA
requests comment on its revised RfD calculation and on its proposal to
use the OW assessment in lieu of the RfD from the 1992 IRIS assessment.
There is inadequate information to assess the carcinogenic
potential of strontium due to the lack of adequate studies of chronic
duration. The Health Effects Support Document (USEPA, 2014c) for this
determination presents more detailed analysis of the health effects of
strontium.
c. Statutory Criterion #2 (Occurrence at Frequency and Levels of Public
Health Concern?)
Strontium meets the SDWA statutory criterion #2 for regulatory
determinations; it does occur with a frequency and at levels of public
health concern in public water systems based on EPA's evaluation of the
following occurrence information.
EPA used the National Inorganics and Radionuclides Survey (NIRS)
(USEPA, 2008b) as the primary data source to evaluate the occurrence of
strontium in PWSs. It provides contaminant occurrence data from 989
CWSs served by ground water sources. Each of these randomly selected
PWSs was sampled a single time between 1984 and 1986. Of the 989
systems in NIRS, 980 (99%) had detectable levels of strontium ranging
from 1.53 to 43,550 [micro]g/L. The mean concentration was 603
[micro]g/L. Approximately 7.0% (69 of 989) of the NIRS PWSs detected
strontium at a level greater than the HRL (1500 [micro]g/L) and 14.3%
(141 of 989) detected strontium at a level greater than \1/2\ HRL (750
[micro]g/L). Extrapolated by the total number of ground water CWSs
found nationally, this represents 2,798 and 5,718 groundwater CWSs that
could have strontium at a level greater than the HRL and the \1/2\ HRL,
respectively. These figures are summarized in Table 8 (USEPA, 2014b).
[[Page 62738]]
Table 8--Estimates of Population Exposed to Strontium, Observed and Extrapolated From NIRS
--------------------------------------------------------------------------------------------------------------------------------------------------------
National Inorganics and Radionuclides Survey Extrapolation of NIRS data to groundwater
(NIRS) systems nationwide
Threshold -------------------------------------------------------------------------------------------
Systems Population Systems Population
--------------------------------------------------------------------------------------------------------------------------------------------------------
Systems with Detectable Concentrations...................... 99.1% 99.9% 99.1% 99.9%
(980 of 989) (1.481M of 1.482M) (39.7K of 40.1K) (93.0M of 93.1M)
Systems detecting strontium above one half the HRL (>750 14.3% 16.6% 14.3% 16.6%
[micro]g/L)................................................ (141 of 989) (246K of 1.5M) (5.7K of 40.1K) (15.4M of 93.1M)
Systems detecting strontium above the HRL (>1500 [micro]g/L) 7.0% 10.7% 7.0% 10.7%
(69 of 989) (159K of 1.5M) (2.8K of 40.1K) (10.0M of 93.1M)
--------------------------------------------------------------------------------------------------------------------------------------------------------
As a point of reference to the earlier IRIS assessment, if EPA used
the HRL derived from this assessment of 3000 [micro]g/L, 30/989 systems
(3%) would have finished water samples that exceed the HRL using the
NIRS data, compared to 69/989 (7%) using the HRL of 1500 [micro]g/L
derived from the more recent OW assessment.
Finished water data, analyzed between 1998 and 2005, from Ohio and
Illinois are also consistent with the NIRS data. The State of Illinois
reported results from testing 21 drinking water samples from 19 PWSs
and strontium was detected in all 21 samples (100%) from all 19 systems
(100%). Approximately 23.8% (5 of 21) of samples from five systems
(26.3%) had strontium at levels greater than the \1/2\ HRL (750
[micro]g/L) and approximately 23.8% (5 of 21) of samples from five
systems (26.3%) had strontium at levels greater than the HRL (1500
[micro]g/L) (USEPA, 2012b). The State of Ohio reported results from
testing 77 samples from 32 PWSs and strontium was detected in 75
samples (97.4%) from 30 different systems (93.8%). Approximately 27.3%
(21 of 77) of samples from 10 systems (31.3%) had strontium at levels
greater than the \1/2\ HRL and approximately 23.4% (18 of 77) of
samples from seven systems (21.9%) had strontium at levels greater than
the HRL (USEPA, 2014b).
Although there are limited surface water data available for
strontium, the available data are consistent and demonstrate high
occurrence in surface waters. Ambient water data for strontium are also
consistent with high occurrence in finished water, which is expected
since it is a naturally occurring element. The NAWQA Quality of Public
Supply Wells (Toccalino et al., 2010) study collected water samples
from source (untreated) groundwater public supply wells in 41 states.
Each well was sampled once from 1993-2007 and 100% of samples (503 of
503) had a strontium detection. Of the detections, 25.1% (126 of 503)
were above the \1/2\ HRL (750 [micro]g/L) and 12.1% (61 of 503) were
above the HRL (1500 [micro]g/L). Additional occurrence information on
strontium can be found in the Regulatory Determinations 3 Support
Document (USEPA, 2014b).
d. Statutory Criterion #3 (Meaningful Opportunity?)
EPA makes a preliminary finding that strontium meets the SDWA
statutory criterion #3 for regulatory determinations; regulation of
strontium in drinking water presents a meaningful opportunity for
health risk reduction based on the estimated exposed population,
potential impacts on sensitive populations and estimated exposure from
other sources (e.g., food).
1. National Population Exposed: In the NIRS dataset 989 ground
water systems were sampled serving a population of 1.48 million. The
NIRS data indicates that the population exposed to strontium at a level
greater than the HRL (1500 [micro]g/L) is 158,557 (11%) and the \1/2\
HRL (750 [micro]g/L) is 245,870 (17%) (USEPA, 2012b). EPA also
performed national extrapolations generated by multiplying the NIRS
findings of system/population percentages and the national system/
population inventory numbers for PWSs developed from EPA's Safe
Drinking Water Information System, the CWSS, and UCMR. Out of the 93.1
million people served by 40,106 ground water CWSs in the nation, the
national extrapolation indicates that 10.0 million may be exposed to
concentrations greater than the HRL (1500 ug/L) and 15.4 million may be
exposed to concentrations greater than the \1/2\ HRL (750 ug/L). The
system and population estimates are summarized in Table 8.
Strontium occurs naturally and is abundant in the environment. Its
occurrence in water at concentrations >HRL may be a reflection of the
geologic and geochemical setting of the source waters for PWSs. The
NIRS drinking water data showed that strontium was detected in one or
more systems sampled in all 48 continuous states, Alaska and Puerto
Rico (Hawaii was not included in NIRS). The occurrence data (e.g.,
NIRS) show that PWSs with strontium at concentrations greater than the
HRL and the \1/2\ HRL occur in 26 states and 34 states, respectively
(USEPA, 2014b).
2. Exposure from media other than water: EPA has determined that
there is a meaningful opportunity to regulate strontium in drinking
water to reduce the public's overall exposure after evaluating the
available exposure data from media other than water. Although strontium
is known to occur in food, air, and soil, data on levels in those media
are limited as are estimates of intake from those sources. Therefore,
EPA used the default 20% RSC to calculate the HRL. This section
provides a summary of the available exposure data.
An FDA Total Diet Study by Pennington and Jones (1987) collected
234 individual foods in 1984 from three cities in one region of the
country and indicated dietary intakes of 493 [micro]g/day for young
children (6 to 11 months), 928 to 1,388 [micro]g/day for 14 to 16 year
old adolescents, and 979-1,489 [micro]g/day for adults. The FDA Total
Diet Study foods are prepared with distilled water and do not reflect
any contributions from the cooking water during preparation of foods
that absorb water such as rice and pasta. Thus, the strontium in many
foods will be impacted by the strontium levels in the local water
supply. Using the mean of the detected water concentrations from the
NIRS dataset (603 [micro]g/L), the estimated water intake for young
children (90th percentile water intake of 1L/day) is 603 [micro]g/day
and 1,206 [micro]g/day for adults (90th percentile water intake of 2L/
day). The estimated strontium intakes from air and soil are very low
compared with those from food and drinking water. The estimated air
exposure for children is 0.1 [micro]g/day and for adults is 0.3
[micro]g/day (Dzubay and Stevens, 1975). The estimated exposure from
soil is 24 [micro]g/day for children and 12 [micro]g/day for
[[Page 62739]]
adults (Shacklette and Boerngen, 1984). No data were identified on
consumer products, such as toothpaste that contain strontium as an
ingredient or impurity.
3. Sensitive populations: Children are expected to be a sensitive
population, since they are actively growing and strontium can
substitute for calcium in growing bone. This means that changes in bone
structure and homeostasis may have more severe and/or a long-term
impact than similar changes in adults. These effects would be expected
to have the greatest impact during periods of rapid growth in the
developing fetus, during childhood and adolescence, particularly if
their calcium intake is insufficient (Abrams et al., 2000; Lee et al.,
1996; Matkovic et al., 2005; Storey, 1961). The estimated populations
of pregnant women (and thus fetuses) and of children (<17 years old)
are 6 and 75 million, respectively (O'Day et al., 1998). The RfD was
based on changes in bone growth in weanling rats (i.e., the sensitive
population). As a result, the data do not include the risk during
prenatal development and lactation so these factors were considered
when selecting the UFs used to derive the RfD. Age-specific exposure
factors (USEPA, 2012c) were also used to reflect the sensitive
population (birth through 18 years) in derivation of the HRL. Exposures
from drinking water at or below the HRL (1500 [micro]g/L) are expected
to be protective of the sensitive population, assuming that 80% of
exposure comes from other sources such as air, soil and food.
The toxic effects of strontium result from strontium ions
substituting for calcium ions, therefore calcium deficiency would be
expected to result in increased risk among sensitive populations. In
this respect, it is important to note that recent NHANES data indicate
that about 50% of females, nine years and older, fail to receive
adequate calcium from diet and supplements on a daily basis (IOM,
2010). Groups with higher risks of becoming calcium deficient include:
Adolescent girls, postmenopausal women, amenorrheic women, female
athletes, vegans, and individuals with lactose intolerance or cow's
milk allergies (IOM, 2010; NIH, 2011a).
The major route of elimination of strontium is via the kidneys,
therefore individuals with impaired renal function are another
sensitive population. This population may potentially have impaired
strontium clearance, as has been shown in renal failure patients. There
are approximately 20 million people (10%) above the age of 20 with
chronic kidney disease (CDC, 2010) and 548,000 people with kidney end-
stage renal disease (USRDS, 2010), who may be at an increased risk.
People with disorders affecting the normal equilibrium between the
breakdown of old bone and the formation of new bone (such as Paget's
disease) might also be sensitive to strontium exposure (D'Haese et al.,
1999, 2000; Schrooten et al., 1998, 2003; Tothill et al., 1983).
According to the National Institute of Arthritis and Musculoskeletal
and Skin Diseases, there are approximately 1 million people (1.2 people
per 100 men and women age 45 to 74) diagnosed with Paget's disease of
the bone (NIH, 2011b). The Health Effects Support Document (USEPA,
2014c) for strontium presents more detailed information about the
potential health effects and sensitive populations. Because the RfD
includes an uncertainty factor of 10 for intraspecies variability, the
RfD is also expected to be protective of these sensitive populations.
d. Preliminary Regulatory Determination
At this time, the agency is making a preliminary determination to
regulate strontium with an NPDWR after evaluating the available health,
occurrence, and other related information against the three SDWA
statutory criteria. Specifically, it is EPA's preliminary determination
that (a) strontium may have an adverse effect on the health of persons,
(b) it is known to occur or there is substantial likelihood that
strontium will occur in public water systems with a frequency and at
levels of public health concern, (c) regulation of strontium with an
NPDWR presents a meaningful opportunity to reduce health risks for
persons served by PWSs.
It is important to note that the agency included strontium in UCMR
3. As of January 2014, a preliminary analysis (USEPA, 2014e) of the
first nine months of the UCMR 3 monitoring data indicate that 4.9% (70
of 1,423) of systems, 3.8% (175 of 4,547) of entry points, and 3.9%
(274 of 7,061) of samples have detects of strontium at levels greater
than the HRL of 1500 [micro]g/L. While EPA believes the occurrence data
from NIRS (in concert with the supplemental information discussed
earlier) are sufficient to make the regulatory determination, the
agency believes the additional monitoring results from UCMR 3 will
assist EPA in making the final regulatory determination for strontium
and in developing the proposed NPDWR. As noted in section III.A.3, this
regulatory determination process is distinct from the more detailed
analyses needed to develop a national primary drinking water
regulation. To inform the agency, the EPA plans to conduct more
extensive field testing of treatment technologies to assess the
effectiveness of strontium removal in PWSs prior to promulgating a
national primary drinking water regulation. Thus a decision to regulate
is the beginning of the agency's regulatory development process, not
the end. As the agency collects additional information about drinking
water and other sources of exposure (and performs more detailed
analyses), this information will inform the agency's opinion as to
whether strontium should be regulated. The agency asks the public to
submit any data or information that may be useful in evaluating
drinking water and other sources of exposure (e.g., food, food prepared
in drinking water, air, soil, etc.).
4 and 5. Terbufos and Terbufos Sulfone
a. Background
Terbufos is a phosphorodithioate pesticide (i.e., an
organophosphate) used as an insecticide-nematicide to control a variety
of insect pests, primarily used on corn and sugar beets (USEPA, 2006c).
Terbufos sulfone is a degradate of terbufos. EPA's most recent
Pesticide Industry Sales and Usage report states that between 5 and 7
million pounds of terbufos active ingredient were used in 1999 and
between 3 and 5 million pounds of active ingredient were used in 2001
(USEPA, 2004). There are no industrial release data available for
terbufos from TRI. As a pesticide degradate, terbufos sulfone is
neither produced nor used commercially. Total toxic residues of
terbufos and degradates are highly mobile and persistent in the
environment, with terbufos sulfone being more mobile and substantially
more persistent than terbufos (USEPA, 2006c).
b. Statutory Criterion #1 (Adverse Health Effects?)
Terbufos and its degradate, terbufos sulfone, meet the SDWA
statutory criterion #1 for regulatory determinations; they may cause an
adverse effect on the health of persons. Terbufos and terbufos sulfone
belong to a group of pesticides called organophosphates, which share a
common mechanism of toxicity. Organophosphates affect the proper
function of the nervous system by inhibiting ChE, an essential enzyme
in neurotransmission. There has been no evidence that terbufos is
carcinogenic in animal studies (Rapp, 1974; Silverman
[[Page 62740]]
et al., 1986) and it is classified as a class D carcinogen (inadequate
evidence of carcinogenicity) (USEPA, 1988). Overall, health effects
information for the terbufos sulfone degradate is lacking; there are no
long-term studies or cancer classification for terbufos sulfone.
The 2006 OPP RED assessment (USEPA, 2006c) established an oral RfD
for terbufos of 0.00005 mg/kg/day, derived from the NOAEL of 0.005 mg/
kg/day for ChE inhibition in the 28-day and 1-year dog studies by
Shellenberger (1984) and Shellenberger and Billups (1986). A composite
UF of 100 (interspecies and intraspecies variability) was applied to
the NOAEL to obtain the RfD. EPA calculated a non-cancer HRL of 0.35
[micro]g/L for terbufos using the RfD of 0.00005 mg/kg/day for a 70 kg
adult ingesting 2 L of drinking water per day and an RSC of 20%. The
agency has not developed an RfD for terbufos sulfone because subchronic
and chronic studies are not available. However, Bailey (1988) conducted
a 14-day study of both terbufos and its sulfone degradate in dogs. The
NOAEL based on ChE activity for terbufos sulfone was greater than the
LOAEL of 2.5 mg/kg/day for the same endpoint following 14-day dosing
with the parent compound terbufos. This suggests that the terbufos
sulfone degradate is less toxic than its parent, and that the use of
the terbufos HRL of 0.35 [micro]g/L for the degradate, terbufos
sulfone, is acceptable. The OPP RED (USEPA, 2006c) presents more
detailed information about the health effects for terbufos and terbufos
sulfone.
c. Statutory Criterion #2 (Occurrence at frequency and levels of public
health concern?)
Terbufos and terbufos sulfone do not meet the SDWA statutory
criterion #2 for regulatory determinations; they do not occur with a
frequency and at levels of public health concern in public water
systems based on EPA's evaluation of the following occurrence
information.
The primary data for terbufos sulfone are nationally-representative
finished water monitoring data generated through EPA's UCMR 2 (2008-
2010) (USEPA, 2014d). UCMR 2 collected 32,012 finished water samples
from 4,138 PWSs (serving ~ 230 million people) and terbufos sulfone was
detected in only one sample, at a concentration of 0.42 [micro]g/L. The
MRL was 0.4 [micro]g/L, which is slightly higher than the HRL (0.35
[micro]g/L) (USEPA, 2012d). The primary data for terbufos are from the
UCMR 1 screening survey (2001-2003) (USEPA, 2008c). The UCMR 1
screening survey collected 2,301 finished water samples from 295 PWSs.
Terbufos was not detected at levels at or above the MRL (0.5 [micro]g/
L), which is slightly higher than the HRL (0.35 [micro]g/L) (USEPA,
2008c). Finished water data for terbufos and terbufos sulfone from
California, Iowa, USDA, and USGS are also consistent with the UCMR 1
and UCMR 2 data. The State of California reported no detections of
terbufos in 191 samples from 23 PWSs (see USEPA, 2014b). The State of
Iowa reported no detections of terbufos sulfone from 13 wells (see
USEPA, 2014b). The USDA PDP monitored for terbufos (2,597 samples) and
terbufos sulfone (2,923 samples) in finished water from 2001 to 2009
and reported no detections at or above method reporting levels ranging
from 0.005 [micro]g/L to 0.1 [micro]g/L (USDA, 2012: USEPA, 2014b). The
USGS PMP monitored for terbufos in finished water in 1999 and reported
no detections, at or above their method reporting level of 0.013
[micro]g/L (Blomquist et al., 2001).
Terbufos and (very limited) terbufos sulfone occurrence data for
ambient water from EPA, STORET, and several USGS programs or studies
are consistent with those for finished water. The USGS NAWQA Program
(1992-2001) reported no groundwater detections above the \1/2\ HRL
(0.175 [micro]g/L) or the HRL (0.35 [micro]g/L) for terbufos in 20,960
samples at 7,118 sites. NAWQA reported surface water detections for
terbufos in 28 of 14,480 samples (0.19%) at 20 of 1,907 sites (1.05%).
Of the 28 surface water detections for terbufos, only four samples
(0.03%) at four sites (0.21%) were above the \1/2\ HRL and only one
sample (0.01%) at one site (0.05%) was above the HRL (Gilliom et al.,
2007). The NAWQA Carbonate Aquifer Study (1993-2005; Lindsey et al.,
2008) and the NAWQA Domestic Well Water Quality Study (1991-2004;
DeSimone, 2009) reported no detections for terbufos above the \1/2\ HRL
or the HRL in 1,027 and 2,539 samples, respectively. The NAWQA National
Synthesis Program (1992-2001) reported no groundwater detections for
terbufos above the \1/2\ HRL or the HRL and one surface water detection
(0.56 [micro]g/L), from agricultural sites, above the HRL (Gilliom et
al., 2007).
Ambient water data from a two phase USGS study conducted between
2002 and 2005 by Hopple et al. (2009) and Kingsbury et al. (2008)
reported no terbufos detections in the 221 Phase 1 groundwater samples
nor the 146 Phase 1 surface water samples. In Phase 2, there were no
detections of terbufos from 48 raw and 48 finished groundwater samples.
Ambient water data from a USGS study conducted between 1993 and 2007 by
Toccalino et al. (2010) reported no terbufos detections in 898
groundwater samples.
Terbufos ambient data reported in EPA's OPP RED for Terbufos
(USEPA, 2006c) document included 20 detections in 4,563 groundwater
samples from 13 States. The detections ranged from 0.01 to 20 [micro]g/
L, a range that extends both above and below the \1/2\ HRL (0.175
[micro]g/L) and the HRL (0.35 [micro]g/L). The USGS PMP monitored for
terbufos in ambient water in 1999 and reported no detections (Blomquist
et al., 2001).
Terbufos ambient data are reported in STORET from 17 States (USEPA,
2012b). No groundwater detections were reported in 699 samples at 441
sites. STORET reported surface water detections in 457 of 5,826 samples
(7.84%) at 138 of 625 sites (22.1%). Of the 457 surface water
detections, only 23 samples (0.39%) at 14 sites (2.24%) were above the
\1/2\ HRL and only two samples (0.03%) at two sites (0.32%) were above
the HRL.
d. Statutory Criterion #3 (Meaningful Opportunity?)
Terbufos and terbufos sulfone do not meet the SDWA statutory
criterion #3 for regulatory determinations; regulation of terbufos and
terbufos sulfone do not present a meaningful opportunity for health
risk reduction based on the estimated population exposed, including
sensitive populations. The estimated population exposed to terbufos at
or above the MRL is 0%; the compound was not found to occur in finished
water at levels greater than or equal to the MRL (0.4 [mu]g/L), which
is slightly higher than the HRL (0.35 [mu]g/L), in 2,301 samples from
295 PWSs in UCMR 1 (USEPA, 2008c). The estimated population exposed to
terbufos sulfone at a level of public health concern (based on the HRL
for terbufos) is 44,600 (0.02% of the population served by PWSs); there
was only one detection greater than the HRL in 4,138 PWSs (1 of 32,012
samples in UCMR 2) (USEPA, 2014d). As a result, the agency finds that
an NPDWR does not present a meaningful opportunity for health risk
reduction.
EPA also evaluated whether health information is available
regarding the potential health effects on children and other sensitive
populations. Developmental studies with terbufos in rats and rabbits
did not find any developmental effects (USEPA, 2003c). There are no
data on reproductive and developmental effects for terbufos sulfone. No
sensitive populations were identified or characterized. The OPP RED
(USEPA, 2006c) presents more
[[Page 62741]]
detailed information about the potential health effects and sensitive
populations for terbufos and terbufos sulfone.
e. Preliminary Regulatory Determination
The agency is making preliminary determinations to not regulate
terbufos and terbufos sulfone with NPDWRs after evaluating health,
occurrence, and other related information against the three SDWA
statutory criteria. While the data suggests that terbufos and terbufos
sulfone may have adverse effects on human health, the occurrence data
indicate there is no substantial likelihood that terbufos or terbufos
sulfone will occur in PWSs with a frequency and at levels of public
health concern. Therefore, the agency finds that NPDWRs for terbufos
and terbufos sulfone would not present meaningful opportunities to
reduce health risk for persons served by PWSs. The Regulatory
Determinations 3 Support Document (USEPA, 2014b) presents additional
information and/or analyses supporting the agency's evaluation of
terbufos and terbufos sulfone.
V. What is the Status of the Agency's Evaluation of Chlorate and
Nitrosamines?
The agency will review the existing MDBP regulations as part of the
SY3. Because chlorate and nitrosamines are DBPs that can be introduced
or formed in public water systems partly because of disinfection
practices, the agency believes it is important to evaluate these
unregulated DBPs in the context of the review of the existing DBP
regulations. DBPs need to be evaluated collectively, because the
potential exists that the chemical disinfection used to control a
specific DBP could affect the concentrations of other DBPs. Therefore,
the agency is not making a regulatory determination for chlorate and
nitrosamines at this time. The agency expects to complete the review of
these DBPs by the end of 2015.
A. Chlorate
The following sections provide the background, health and
occurrence information/data that the agency has collected to date for
chlorate. If the public has any additional health and occurrence
information that may be useful as the agency evaluates chlorate in the
context of the existing MDBP rules, please provide this information to
the docket.
1. Background
The chlorate anion (ClO3-) forms a variety of
salts (e.g., sodium chlorate, calcium chlorate, potassium chlorate, and
magnesium chlorate) collectively known as chlorates, which are powerful
oxidizers. Chlorate compounds (especially sodium chlorate) are used as
herbicides and to generate chlorine dioxide (ClO2) as a
bleaching agent (USEPA, 2006a). Disinfection practices are the most
important source of chlorate in drinking water; this includes formation
as a DBP from use of chlorine dioxide and its presence in hypochlorite
disinfectants as an impurity (USEPA, 2006a).
Chlorate can be formed during decomposition of hypochlorite
(ClO-) solutions, which are used as a disinfectant and/or
oxidant in water treatment. Hypochlorite solutions that are more aged
are generally less effective and require higher doses to achieve the
treatment (disinfection) objectives, which can result in more chlorate
to be introduced into the chlorinated water. In addition to being a DBP
(along with chlorite) formed from the use of chlorine dioxide as a
disinfectant, chlorate ion may also be present as an impurity in the
chlorine dioxide (Gates et al., 2009; USEPA, 2006a). Chlorate can also
form by the reaction of chlorite with free chlorine applied as a
residual disinfectant in the distribution system (Gallagher et al.,
1994). In addition, chlorite can be oxidized by a strong oxidant (such
as ozone) to produce chlorate in the water (von Gunten, 2003). Chlorate
salts readily dissolve in water and are highly mobile because of the
absence. In the absence of redox reactions, the chlorate ion would be
expected to partition predominantly into water and to be highly mobile
in water. However, under most environmental conditions chlorate is
subject to redox reactions, which are expected to reduce the
concentration of chlorate in the water column (USEPA, 2006a).
2. Health Effects Information
Acute ingestion of high levels of sodium chlorate has resulted in
acute kidney failure and hemolysis among other effects based on
numerous case reports of individuals accidently ingesting high levels
of chlorate compounds (USEPA, 2006b; WHO, 2005). A population-based
case-control study of chlorate as a DBP at concentrations >200 [mu]g/L
identified significantly increased odds ratios for obstructive urinary
defects, cleft palate, and spina bifida (Righi et al., 2012). The
median chlorate exposure for the study population was 280 [mu]g/L. In a
case-control study of the same population in Italy, Aggazzotti et al.
(2004) found no association between preterm births and exposure to
chlorate.
The animal studies provide clear and consistent evidence that
subchronic and chronic exposure to chlorate results in effects on blood
and thyroid. Subchronic studies in rats have reported decreased
hemoglobin, hematocrit, and red blood cell (RBC) counts (Abdel-Rahman
et al., 1984; Barrett, 1987; McCauley et al., 1995) and thyroid colloid
depletion, follicular cell hypertrophy and hyperplasia (Hooth et al.,
2001).
A chronic study based on increased thyroid gland follicular cell
hypertrophy in male rats (NTP, 2005a) was identified as the critical
study for establishing an RfD of 0.03 mg/kg/day (USEPA, 2006b). The RfD
was derived by using the BMD method and based on the lower 95%
confidence limit (BMDL) of 28 mg/L as sodium chlorate (22 mg/L as
chlorate), corresponding to 0.9 mg/kg/day (USEPA, 2006b), with a
composite UF of 30 for intraspecies (i.e., sensitive populations) and
interspecies variability (i.e., thyroid hormone differences between
humans and rats). EPA calculated a non-cancer HRL of 210 [mu]g/L for
chlorate using the RfD of 0.03 mg/kg/day for a 70 kg adult ingesting 2
L of drinking water per day and an RSC of 20%.
A cancer risk assessment was not conducted for chlorate because
sodium chlorate is classified as not likely to be carcinogenic to
humans at doses that do not alter thyroid hormone homeostasis under the
USEPA (2005b) Cancer Guidelines. The RfD is protective against acute
alterations in thyroid homeostasis and therefore considered to also be
protective of tumorigenicity as well as other chronic and subchronic
adverse health effects discussed in the literature (Hooth et al., 2001;
Khan et al., 2005; NTP, 2005a).
EPA also evaluated whether health information is available
regarding sensitive populations. According to the OPP RED, there was no
pre- or postnatal sensitivity or susceptibility observed in the
submitted developmental studies in rats and rabbits or the 2-generation
reproduction study in rats. However, there is a concern for developing
offspring because of the effects of inorganic chlorate on thyroid
function in rats (USEPA, 2006a). Chlorate is one of a number or
inorganic ions that may interfere with iodine uptake by the thyroid,
but chlorate is not highly potent in this respect (Van Sande et al.,
2003).
Chlorate may also cause hemolysis, thus persons with low red blood
cell counts such as those with anemia may be particularly sensitive to
sodium chlorate. Data from the 1994 National Health Interview Survey
(O'Day et al.,
[[Page 62742]]
1998) indicate that there were about 5 million people in the U.S. who
suffered from some form of anemia. About 3 to 5% of the population may
have an inherited glucose-6-phosphate dehydrogenase (G6PD) deficiency,
with males more sensitive than females (Luzzatto and Mehta, 1989), and
about 1% may have a form of hereditary methemoglobinemia (Jaffe and
Hultquist, 1989). Each one of these conditions is a contributor to low
red blood cell counts within the population. Individuals co-exposed to
other ions that decrease iodine uptake by the thyroid or have low RBC
counts may be more sensitive to chlorate exposure.
3. Occurrence Data and Information
a. Drinking Water
The 1997-1998 DBP ICR is currently the best available data source
for characterizing the national occurrence baseline for chlorate. The
DBP ICR, which included monitoring data for 296 water systems serving
100,000 people or more (representing a total population of 130
million), required water systems that use hypochlorite solutions or
chlorine dioxide for disinfection to monitor for chlorate (USEPA,
1996). Subsequently, 82 water systems serving approximately 40 million
people monitored and reported chlorate occurrence under the DBP ICR
(using an MRL of 20 [mu]g/L). Table 9 presents the number and
percentage of samples and systems (along with the population served)
that measured chlorate at levels exceeding the specified threshold
concentrations (i.e., HRL and \1/2\ HRL). These samples were associated
with 41.5% (34 of 82) of the ICR systems using hypochlorite solutions
or chlorine dioxide for disinfection and 11.5% (34 of 296) of all of
the ICR systems. EPA assumes there was no occurrence of chlorate among
the ICR systems that were not required to monitor for it, since they
use disinfection techniques not expected to produce chlorate.
Approximately 51.1% (878 of 1,719) of ICR samples from the finished
water or distribution system of the systems required to monitor had
chlorate at levels greater than the \1/2\ HRL (105 [mu]g/L) and 19.3%
(332 of 1,719) had chlorate at levels greater than the HRL (210 [mu]g/
L). The samples greater than the \1/2\ HRL were associated with 73.2%
(60 of 82) of the ICR systems using hypochlorite solutions or chlorine
dioxide for disinfection and 20.3% (60 of 296) of all ICR systems
(including those that were not required to monitor for chlorate). The
samples greater than the HRL were associated with 41.5% (34 of 82) of
the ICR systems using hypochlorite solutions or chlorine dioxide for
disinfection and 11.5% (34 of 296) of all ICR systems (including those
that were not required to monitor for chlorate) (McGuire et al., 2002).
Since the DBP ICR was completed in 1998, these data likely
underestimate current (2012) chlorate occurrence among the systems
serving 100,000 people or more for the following two reasons: (1) Some
of these systems may have changed the disinfectant type from chlorine
gas to chlorine dioxide for compliance with the existing Stage 1 or
Stage 2 DBP rules; and/or (2) some systems may have switched from
chlorine gas to hypochlorite solution due to a security concern (i.e.,
a concern of safety of transportation and storage for chlorine gas).
Disinfection surveys conducted by the AWWA Disinfection Systems
Committee in 1998 and 2007 have confirmed that chlorine dioxide and
hypochlorite use has increased (AWWA Disinfection Systems Committee,
2008a, 2008b; Connell et al., 2000a, 2000b).
Table 9--Summary of Chlorate Monitoring Results Under the DBP ICR
--------------------------------------------------------------------------------------------------------------------------------------------------------
Of DBP ICR PWSs that monitored for chlorate, Of all DBP ICR PWSs, PWSs with at least one
samples and PWSs with at least one detection detection > threshold and estimated
> threshold * population served **
-------------------------------------------------------------------------------------------
Chlorate threshold Number (percentage)
Number (percentage) Number (percentage) of DBP ICR PWSs with Population served by
of DBP ICR samples of DBP ICR PWSs with at least one DBP ICR PWSs with at
with detection > at least one detection > threshold least one detection >
threshold detection > threshold \*\ threshold \**\
--------------------------------------------------------------------------------------------------------------------------------------------------------
HRL (210 [mu]g/L)........................................... 332 of 1,719 34 of 82 34 of 296 11.8 of 130 million
(19.3%) (41.5%) (11.5%) (9.1%)
\1/2\ HRL (105 [mu]g/L)..................................... 878 of 1,719 60 of 82 60 of 296 31.7 of 130 million
(51.1%) (73.2%) (20.3%) (24.4%)
--------------------------------------------------------------------------------------------------------------------------------------------------------
\*\ 82 PWSs that used hypochlorite or chlorine dioxide were required to monitor for chlorate during the DBP ICR monitoring period, based on their
potential to form chlorate. Number and percentage of samples and PWSs are based on those 82 PWSs that monitored for chlorate.
\**\ The number and percentage of PWSs and population served > threshold is based on all 296 systems. EPA assumes that the 214 systems not required to
monitor do not have chlorate concentrations above the thresholds.
Finished water data for chlorate from California collected between
2001 and 2007 show lower occurrence compared to the DBP ICR. The State
of California reported results from testing more than 1,200 drinking
water samples from 45 PWSs and chlorate was detected in 945 samples
(78.4%) from 24 different systems (53.3%) (Ranalli, B., 2013).
Approximately 41.6% (501 of 1,205) of samples from 17 systems (37.8%)
had chlorate at levels greater than the \1/2\ HRL (105 [mu]g/L) and
approximately 12.4% (149 of 1,205) of samples from 10 systems (22.2%)
had chlorate at levels greater than the HRL (210 [mu]g/L) (Ranalli, B.,
2013).
It is important to note that the agency included chlorate in the
UCMR 3, which is currently in process. UCMR 3 will provide a national
dataset of chlorate occurrence in drinking water and will update the
occurrence data provided by the DBP ICR.
Ambient water data for chlorate are limited, but chlorate could be
present in areas where it is used as an herbicide or discharged from
paper plants where it is used as a bleaching agent. Since chlorate is a
DBP, higher concentrations are expected in finished water than in
ambient water.
b. Exposure from media other than water
There is very little quantitative information available on the
occurrence of chlorate in food, air, and soil or other products
resulting in residential exposures. Without reliable estimates of
intakes, it is not possible to estimate the contribution of drinking
water to total exposure. However, based on modeling results, the agency
estimated that the chlorate intake from food (as a result of sodium
chlorate use as a pesticide) for the overall population is
approximately 3 [mu]g/kg-day, with somewhat higher intakes for children
under five years old
[[Page 62743]]
of approximately 5 to 8 [mu]g/kg-day (USEPA, 2006a). Additional food
exposure from use of sanitizing solutions in food preparation plants
(e.g., equipment and contact surfaces) and processing (e.g., bleaching
agent) may also be a source of exposure (21 CFR section 178.1010).
Intake for adults from dietary supplements containing chlorate may
range from 0.001 to 0.29 [mu]g/kg-day.
B. Nitrosamines Group (6 Nitrosamines)
The following sections provide the background, health and
occurrence information/data that the agency has collected to date for
nitrosamines. If you have any additional health and occurrence
information that may be useful as the agency evaluates nitrosamines in
the context of the regulatory review of existing MDBP rules, please
provide this information to the docket.
1. Background
Nitrosamines are a class of nitrogen-containing organic compounds
that share a common nitrosamino functional group (HSDB, 2010). EPA
included five nitrosamine compounds on the CCL 3: N-
nitrosodimethylamine (NDMA), N-nitrosodiethylamine (NDEA), N-nitrosodi-
n-propylamine (NDPA), N-nitrosopyrrolidine (NPYR), and N-
nitrosodiphenylamine (NDPhA). EPA monitored six nitrosamines under UCMR
2 using EPA Analytical Method 521, four of which are CCL 3 compounds
(i.e., NDMA, NDEA, NDPA, NPYR), and two non-CCL 3 nitrosamines [i.e.,
N-nitrosomethylethylamine (NMEA) and N-nitrosodi-n-butylamine (NDBA)].
The fifth CCL 3 nitrosamine compound, NDPhA, was not monitored under
UCMR 2 due to lack of a reliable analytical method. Although other
nitrosamines (e.g., N-nitrosomorpholine, N-nitrosopiperidine) have been
identified in finished water (Mitch et al., 2009), they were also not
included in UCMR 2 for similar analytical reasons. The nitrosamines
from the UCMR 2 thus comprise the list of six nitrosamines that moved
forward to the data evaluation phase of regulatory determination and
are the focus of the information that follows below.
All six nitrosamines may be produced in small quantities for
research purposes, but only one (NDEA) is currently produced
commercially in the United States. NDEA is used as an additive in
gasoline and in lubricants, as an antioxidant, and as a stabilizer in
plastics, though no data are available about quantities used (HSDB,
2010). NDMA was once used in the production of rocket fuel, as a
solvent, and as a rubber accelerator. It was also used or proposed for
use as an antioxidant, an additive for lubricants, and a softener for
copolymers (ATSDR, 1989). There are no production data on any of the
nitrosamine compounds from EPA's Inventory Update Reporting (IUR)
program.
NDMA can be formed as an unintended byproduct of manufacturing
processes that involve the use of nitrite or nitrate and amines,
including tanneries, fish processing plants, foundries, and pesticide,
dye, rubber or tire manufacturing plants (ATSDR, 1989). Nitrosamines
have been found in tobacco products, cured meats, ham, bacon, beer,
whiskey, fish, cheese, soybean oil, toiletries, household cleaners,
pesticides, rubber baby bottle nipples and pacifiers (ATSDR, 1989;
Drabik-Markiewicz et al., 2009; Fine et al., 1977; NTP, 2011;
P[eacute]rez et al., 2008; Yurchenko and M[ouml]lder, 2007).
NDMA is commonly present in municipal sewage sludge (ATSDR, 1989).
NPYR has also been detected in municipal sewage sludge (HSDB, 2010).
ATSDR (1989) cites several studies indicating that nitrosamine
formation in sewage sludge appears to be the result of biological and
chemical transformation of alkylamines in the presence of nitrite. In
addition, nitrosamines may form in air, soil, water, sewage, food,
animal systems and other media where precursors (e.g., amines and
nitrite) are present (HSDB, 2010). NDMA can be produced endogenously in
humans from the interaction of nitrates and nitrites with amines in the
stomach (Mirvish 1975, 1992; Tricker et al., 1994).
As described in the following occurrence section, nitrosamines in
finished water are commonly considered as DBPs because most of the
literature indicates that the main source of nitrosamines in finished
water is associated with water treatment, particularly from
disinfection with chloramines. NDMA is the predominant species of
nitrosamines found in finished water; other nitrosamines are detected
less frequently. Based on their physical and chemical properties, the
nitrosamines appear to be moderately to very mobile in the environment
(the exception being NDBA, which is of low mobility). The nitrosamines
are subject to a variety of removal mechanisms when present in soil and
water, including volatilization (particularly NDMA), photodegradation,
and microbial degradation, although the rates and extent of
biodegradation are highly variable (HSDB, 2010).
2. Health Effects Information
As the more thoroughly studied nitrosamine compared to the other
nitrosamine compounds, NDMA provides epidemiological case-control and
other evidence that human nitrosamine exposure is associated with an
increased risk of several types of cancer, including cancer of the
stomach, esophagus, oral cavity, and pharynx (La Vecchia et al., 1995;
Larsson et al., 2006; Loh et al., 2011; Straif et al., 2000). In
accordance with the most recent Guidelines for Carcinogen Risk
Assessment (USEPA, 2005b), EPA has categorized the six nitrosamine
compounds as likely to be carcinogenic to humans based on sufficient
evidence of carcinogenicity in animal studies with multiple tumor types
(predominately liver and esophageal) in multiple animal species (e.g.,
rats, mice, and hamsters) (Clapp et al., 1968, 1971; Druckrey et al.,
1967; Lijinsky, 1987a, 1987b; Peto et al., 1991a, 1991b). All of the
six nitrosamines have been determined to cause cancer through a
mutagenic MOA because of DNA adduct formation leading to errors in DNA
replication, altered cell proliferation and ultimately tumors (Diaz
Gomez et al., 1986; Goto et al., 1999; Jarabek et al., 2009; Souliotis
et al., 1998). The mutagenic MOA is supported by positive findings from
mutagenicity and genotoxicity in vitro and in vivo studies (Gollapudi
et al., 1998; Kushida et al., 2000; Martelli et al., 1988, Robbiano et
al., 1996, Tinwell et al., 1994).
With a mutagenic MOA, Age Dependent Adjustment Factors (ADAFs) are
used to account for the potential increased cancer risk due to early-
life exposure for infants and children (USEPA, 2005c). The age-adjusted
unit risk is determined by summing up each of the time-weighted unit
risks for the three ADAF developmental groups. The age-adjusted unit
risks include a ten-fold adjustment for birth to <2 years, a three-fold
adjustment for 2 years to <16 years, and no additional adjustment for
exposures later in life, in conjunction with age-specific drinking
water intake values (USEPA. 2012c), and the fraction of a 70-year
lifetime applicable to each age period. The main cancer risk values
used to derive the HRLs are further explained in section III.C.1 and
are also summarized for nitrosamines in Table 10 below.
[[Page 62744]]
Table 10--EPA Derived Risk Values and HRLs for the Six Individual Nitrosamines
----------------------------------------------------------------------------------------------------------------
\1\ Age-
Studies for Cancer slope adjusted unit \2\ HRL ([mu]g/
Nitrosamines establishing a factor (mg/kg/ risk ([mu]g/L)- L) \3\ HRL (ng/L)
slope factor day)-1 1
----------------------------------------------------------------------------------------------------------------
NDBA.......................... Liver and 0.4 3.0 x 10-5 3 x 10-2 30
esophageal
tumors in rats
(Druckrey et
al., 1967).
NDEA.......................... Liver and 30 2.3 x 10-3 4 x 10-4 0.4
esophageal
tumors in rats
(Peto et al.,
1991a,b).
NDMA.......................... Liver tumors in 21 1.6 x 10-3 6 x 10-4 0.6
rats (Peto et
al., 1991a,b).
NDPA.......................... Liver and 2 1.5 x 10-4 7 x 10-3 7
esophageal
tumors in rats
(Druckrey et
al., 1967).
NMEA.......................... Liver tumors in 4 3.0 x 10-4 3 x 10-3 3
rats (Druckrey
et al., 1967).
NPYR.......................... Liver tumors in 7 5.3 x 10-4 2 x 10-3 2
rats (Peto et
al., 1984).
----------------------------------------------------------------------------------------------------------------
\1\ Based on the recommendations of the U.S EPA's 2005 Supplemental Guidance for Assessing Susceptibility from
Early-Life Exposure to Carcinogens, the Unit Risk applicable to exposures beginning in early-life was adjusted
with ADAFs and age-specific drinking water intakes resulting in a lifetime value of unit risk for exposure to
1 [mu]g/L of a contaminant. The calculation for Age-Adjusted Unit Risk = [sum](CSF x ADAF x DWI/BWR x CW x F).
The risk calculations for each individual nitrosamine can be found in the HESDs.
\2\ The cancer HRL is determined by dividing the population risk level, one-in a million (10-6), by the age-
adjusted unit risk.
\3\ The nitrosamine HRL values are converted to ng/L units by multiplying the [mu]g/L values by 1000.
As shown in table 10, the available data indicate a range of cancer
risk values for the individual nitrosamines. Moreover, when multiple
nitrosamines from this group are present in finished water together,
their individual cancer risks are additive (Berger et al., 1987).
EPA also evaluated whether health information is available
regarding sensitive populations. The fetus, newborns, and infants may
be potentially sensitive to the carcinogenic effects of nitrosamines
due to the mutagenic MOA and evidence of transplacental carcinogenicity
(Althoff et al., 1977; Donovan and Smith, 2008). Studies have found
that younger rats were more susceptible to the development of liver
tumors compared to rats exposed later in life to nitrosamines (Gray et
al., 1991; Peto et al., 1984; Vesselinovitch et al., 1984). EPA's
Supplemental Guidance for Assessing Susceptibility from Early-Life
Exposure to Carcinogens (USEPA, 2005c) indicates that potential
increased cancer risk due to early-life exposure should be taken into
account for such compounds when there is the potential for greater
susceptibility for structural changes to DNA leading to tumors when the
exposures occur in infancy or childhood. Thus, the Supplemental
Guidance (USEPA, 2005c) recommends using CSF estimates from chronic
studies with ADAFs when chemical-specific data that quantify the
potential increased risk are lacking. All of the HRLs are based on
lifetime exposure and include application of ADAFs, which adjust for
the increased risk from early life exposure (see section III.C.1).
In addition, habitual consumers of alcoholic beverages may be more
susceptible to carcinogenic effects of nitrosamines because alcohol
increases the metabolism of nitrosamines via a metabolic pathway that
leads to the formation of mutagenic DNA adducts. Co-exposure to ethanol
has been shown to exacerbate the cancer effects of nitrosamines in
animal studies (Anderson et al., 1993; Kamataki et al., 2002; McCoy et
al., 1986). There are approximately five million people in the U.S. who
suffer from alcoholism (O'Day et al., 1998) that may have an increased
risk if co-exposed to nitrosamines (Amelizad et al., 1989; Verna et
al., 1996).
3. Occurrence Data and Information
The data collected under UCMR 2 (USEPA, 2014d) are currently the
best available data for characterizing the national occurrence
baselines for the six nitrosamines. Under UCMR 2, PWSs were required to
collect a sample at each entry point to the distribution system as well
as at the maximum residence time locations within the distribution
system associated with each entry point, and to report the disinfectant
type in use at these locations at the time that the samples were being
taken. The agency was unable to measure at the HRL for some of the
nitrosamines. Therefore, Table 11 presents all of the monitoring
results for each of the six nitrosamines relative to the MRLs.
Table 11--Summary of UCMR 2 Monitoring Results for Six Nitrosamines
--------------------------------------------------------------------------------------------------------------------------------------------------------
Percentages (number) of
Percentages (number) of Percentages (number) of actual UCMR 2 population
Nitrosamines considered under RD 3 MRL samples with detection UCMR 2 PWSs with at served with at least one
least one detection detection*
--------------------------------------------------------------------------------------------------------------------------------------------------------
Nitrosamine Group........................................... 2 to 7 ng/L 10.6% 28.6% 46.43%
(1,907 of 18,053) (343 of 1,198) (73 of 157 million)
NDBA........................................................ 4 ng/L 0.05% 0.4% 1.07%
(9 of 18,043) (5 of 1,198) (1.7 of 157 million)
NDEA........................................................ 5 ng/L 0.3% 2.2% 7.14%
(46 of 18,038) (26 of 1,198) (11.2 of 157 million)
NDMA........................................................ 2 ng/L 10.2% 27.0% 41.54%
(1,841 of 18,040) (324 of 1,198) (65.3 of 157 million)
NDPA........................................................ 7 ng/L 0% 0% 0%
(0 of 18,049) (0 of 1,198) (0 of 157 million)
NMEA........................................................ 3 ng/L 0.02% 0.3 0.003%
(3 of 18,043) (3 of 1,198) (0.004 of 157 million)
NPYR........................................................ 2 ng/L 0.2% 1.8% 4.73%
(41 of 18,043) (21 of 1,198) (7.4 of 157 million)
--------------------------------------------------------------------------------------------------------------------------------------------------------
* The population-served values have been adjusted to include both the population served directly by a system and also the estimated attributable
proportion of the population served by other systems that purchase water from the system. These adjustments are described in the UCMR 2 support
document.
[[Page 62745]]
Finished water data for the nitrosamines from California (Ranalli,
B., 2013) are consistent with the UCMR 2 data. The State of California
reported NDMA detections in 23.8% (24 of 101) of PWSs and NDEA
detections in 7.1% (1 of 14) of PWSs. There were no NPYR, NDPA, NMEA,
or NDBA detections reported. Reporting levels are not known. For
California data on NDMA and NDEA, the minimum reported detections were
1 ng/L and 30 ng/L, respectively. NDBA, NDPA, NMEA, and NPYR had no
detections and thus no minimum reported value in the dataset (Ranalli,
B., 2013). While ambient water data for the nitrosamines are limited,
because they are DBPs, it is expected that in general there would be
higher concentrations in finished water than in ambient water.
V. What about the remaining CCL 3 contaminants?
For the remaining CCL 3 contaminants, the agency lacked adequate
health and/or occurrence information needed to address the three SDWA
statutory criteria to make a regulatory determination. Table 2 and
Table 4 of this notice provide information about the data or
information gap(s) that prevented the contaminant from moving forward
for this regulatory determination effort. The agency continues to
conduct research, collect information or find other avenues to fill the
data and information gaps identified in Table 2 and 4. One mechanism
the agency plans to continue to use to fill occurrence gaps for several
of these contaminants is the UCMR.
VI. EPA's Next Steps
EPA intends to carefully evaluate and respond to the public
comments received on the five preliminary determinations and issue its
final regulatory determinations in 2015. If the agency makes a final
determination to regulate any of the contaminants, EPA will begin the
process to propose an NPDWR within 24 months and promulgate a final
NPDWR within 18 months following the proposal.
VII. References
Abdel-Rahman, M.S., D. Couri, and R.J. Bull. 1984. Toxicity of
chlorine dioxide in drinking water. Journal of the American College
of Toxicology 3(4):277-284.
Abrams, S. A., K. C. Copeland, S. K. Gunn, et al. 2000. Calcium
absorption, bone mass accumulation, and kinetics increase during
early pubertal development in girls. Journal of Clinical
Endocrinology & Metabolism 85(5):1805-1809.
Agency for Toxic Substances and Disease Registry (ATSDR). 1989.
Toxicological Profile for N-Nitrosodimethylamine. U.S. Department of
Health and Human Services, Public Health Service. Available on the
internet at: https://www.atsdr.cdc.gov/substances/toxsubstance.asp?toxid=173. Accessed July 22, 2009.
ATSDR. 1995. Toxicological Profile for 1,3-Dinitrobenzene and 1,3,5-
Trinitrobenzene. U.S Department of Health and Human Services, Public
Health Service. Available on the Internet at: https://www.atsdr.cdc.gov/toxprofiles/tp.asp?id=842&tid=164. Accessed July
22, 2009.
ATSDR. 2004. Toxicological Profile for Strontium. U.S. Department of
Health and Human Services, Public Health Service. Available on the
Internet at: https://www.atsdr.cdc.gov/toxprofiles/index.asp.
Accessed July 22, 2009.
Aggazzotti G., E. Righi, G. Fantuzzi, et al. 2004. Chlorination by-
products (CBPs) in drinking water and adverse pregnancy outcomes in
Italy. J. Water Health. 2(4):233-47 (as cited in U.S. EPA, 2006c).
Althoff, J., P. Pour, C. Grandjean, et al. 1977. Transplacental
effects of nitrosamines in Syrian hamsters. Z. Krebsforsch Klin. O.
90:79-86.
Amelizad, S., K.E. Appel, M. Schoepke, et al. 1989. Enhanced
demethylation and denitrosation of N-nitrosodimethylamine by human
liver microsomes from alcoholics. Cancer Lett. 46(1):43-9.
Anderson, L.M., J.P. Carter, C.L. Driver et al. 1993. Enhancement of
tumorigenesis by N-nitrosodiethylamine, N-nitrosopyrrolidine and N6-
(methylnitroso)-adenosine by ethanol. Cancer Lett, 68: 61-66.
AWWA Disinfection Systems Committee. 2008a. Committee Report:
Disinfection Survey, Part 1-Recent changes, current practices, and
water quality. Journal AWWA 100(10):76-90.
AWWA Disinfection Systems Committee. 2008b. Committee Report:
Disinfection Survey, Part 2-Alternatives, experiences, and future
plans. Journal AWWA 100(11):110-124.
Argonne National Laboratory (ANL). 2007. Radiological and Chemical
Fact Sheets to Support Health Risk Analyses for Contaminated Areas.
Environmental Science Division. Available on the Internet at: https://www.gfxtechnology.com/ArgonneRadFacts.pdf.
Bailey, D.E. 1988. 14-Day oral toxicity study in the dog with AC 92
100 and its metabolites, CL 94 301 and CL94320. Unpublished report
on HLA Study No. 362-190 (BASF RDI No. TE-420-007) from Hazleton
Laboratories America, Inc., Vienna, VA, USA (as cited in USEPA,
2003c).
Barrett, D. 1987. A subchronic (3 month) oral toxicity study of
sodium chlorate in the rat gavage: Final Report: Project No. 86-
3112. Unpublished study prepared by Bio/dynamics, Inc. 464 p. MRID:
40444801 (as cited in USEPA, 2006a).
Berger, M.R., D. Schmahl, and H. Zerban. 1987. Combination
experiments with very low doses of three genotoxic N-nitrosamines
with similar organotropic carcinogenicity in rats. Carcinogenesis
8(11):1635-1643.
Blomquist, J.D., J.M. Denis, J.L. Cowles, J.A. Hetrick, R.D. Jones,
and N.B. Birchfield. 2001. Pesticides in Selected Water-Supply
Reservoirs and Finished Drinking Water, 1999-2000: Summary of
Results from a Pilot Monitoring Survey. U.S. Geological Survey Open-
File Report 01-456. 65 pp. Available on the Internet at: https://md.water.usgs.gov/nawqa/OFR_01-456.pdf.
CDC. 2010. National Chronic Kidney Disease Fact Sheet: General
Information and National Estimates on Chronic Kidney Disease in the
United States, 2010. Atlanta, GA: U.S. Department of Health and
Human Services (HHS). Available on the Internet at: https://www.cdc.gov/diabetes/pubs/pdf/kidney_factsheet.pdf.
Clapp, N.K., A.W. Craig, and R.E. Toya, Sr. 1968. Pulmonary and
hepatic oncogenesis during treatment of male RF mice with
dimethylnitrosamine. Journal of the National Cancer Institute
41:1213-1227.
Clapp, N.K., R.L. Tyndall, and J.A. Otten. 1971. Differences in
tumor types and organ susceptibility in BALB/c and Rf mice following
dimethylnitrosamine and diethylnitrosamine. Cancer Research 31:196-
198.
Clarke, B. 2008. Normal Bone Anatomy and Physiology. Clin J Am Soc
Nephrol. 3: S131-S139. Available on the Internet at: https://www.ncbi.nlm.nih.gov/pmc/articles/PMC3152283/.
Cody, T.E., S. Witherup, L. Hastings, K. Stemmer, and R.T.
Christian. 1981. 1,3-Dinitrobenzene: Toxic effects in vivo and in
vitro. Journal of Toxicology and Environmental Health 7(5):829-847.
Connell, G.F., J.C. Routt, B. Macler, R.C. Andrews, J.M. Chen, Z.K.
Chowdhury, G.F. Crozes, G.B. Finch, R.C. Hoehn, J.G. Jacangelo, A.
Penkal, G.R. Schaeffer, C.R. Schulz, and M.P. Uza. 2000a. Committee
report: Disinfection at small systems. Journal AWWA 92(5):24-31.
Connell, G.F, J.C. Routt, B. Macler, R.C. Andrews, J.M. Chen, Z.K.
Chowdhury, G.F. Crozes, G.B. Finch, R.C. Hoehn, J.G. Jacangelo, A.
Penkal, G.R. Schaeffer, C.R. Schulz, and M.P. Uza. 2000b. Committee
report: Disinfection at large and medium-size systems. Journal AWWA
92(5): 32-43.
D'Haese, P.C., M.M. Couttenye, L.V. Lamberts, M.M. Elseviers, W.G.
Goodman, I. Schrooten, W.E. Cabrera, and M.E. De Broe. 1999.
Aluminum, iron, lead, cadmium, copper, zinc, chromium, magnesium,
strontium, and calcium content in bone of end-stage renal failure
patients. Clinical Chemistry 45(9):1548-1556.
D'Haese, P.C., I. Schrooten, W.G. Goodman, W.E. Cabrera, L.V.
Lamberts, M.M. Elseviers, M.M. Couttenye, and M.E. De Broe. 2000.
Increased bone strontium levels in hemodialysis patients with
osteomalacia. Kidney International 57(3):1107-1114.
Delzer, G.C. and T. Ivahnenko. 2003. Occurrence and Temporal
Variability of Methyl tert-Butyl Ether (MTBE) and Other Volatile
Organic Compounds in Select Sources of Drinking Water: Results of
the Focused Survey. U.S. Geological Survey Water-Resources
Investigations Report 02-4084. 65 pp. Available on the Internet at:
https://sd.water.usgs.gov/nawqa/pubs/wrir/wrir02_4084.pdf.
[[Page 62746]]
DeSimone, L.A. 2009. Quality of Water from Domestic Wells in
Principal Aquifers of the United States, 1991-2004. U.S. Geological
Survey Scientific Investigations Report 2008-5227. 139 pp. Available
on the Internet at: https://pubs.usgs.gov/sir/2008/5227/.
Diaz Gomez, M.I., D. Tamayo, and J.A. Castro. 1986. Administration
of N-nitrosodimethylamine, N-nitrosopyrrolidine, or N'-
nitrosonornicotine to nursing rats: their interactions with liver
and kidney nucleic acids from sucklings. J. Natl. Cancer Inst.
76(6):1133-1136.
Donovan, P.J. and G.T. Smith. 2008. Urethane and N-
nitrosodiethylamine are mutagenic for the Syrian hamster fetus.
Mutation Research 657(2):160-163.
Drabik-Markiewicz, G., K. Van den Maagdenberg, E. De May, S. Deprez,
T. Kowalska, and H. Paelinck. 2009. Role of proline and
hydroxyproline in N-nitrosamine formation during heating in cured
meat. Meat Science 81(3):479-486.
Druckrey, H., R. Preussmann, S. Ivankovic, et al. 1967. Organotropic
carcinogenic effects of 65 various N-nitroso- compounds on BD rats.
Zeitschrift fur Krebsforschung 69(2):103-201.
Dzubay, T.G. and R.K. Stevens. 1975. Ambient air analysis with
dichotomous sampler and x-ray fluorescence spectrometer.
Environmental Science and Technology 9(7):663-668.
Food and Drug Administration (FDA). 2011. Available on the Internet
at: https://www.fda.gov/Radiation-EmittingProducts/ResourcesforYouRadiationEmittingProducts/ucm252764.htm. Accessed
July 10, 2013.
Fine, D.H., R. Ross, D.P. Rounbehler, A. Silvergleid, and L. Song.
1977. Formation in vivo of volatile N-nitrosamines in many after
ingestion of cooked bacon and spinach. Nature 265:753-755.
Gallagher, D.L, R.C Hoehn, and A.M. Dietrich. 1994. Sources,
Occurrence, and Control of Chlorine Dioxide By-Product Residuals in
Drinking Water. Published by AwwaRF and AWWA.
Gates, D., G. Ziglio, and K. Ozekin. 2009. State of the Science of
Chlorine Dioxide in Drinking Water. Water Research Foundation and
Fondazione AMGA.
Government Accountability Office (GAO). 2011. Safe Drinking Water
Act: EPA Should Improve Implementation of Requirements on Whether to
Regulate Additional Contaminants. Report to Congressional
Requesters. GAO-11-254. May, 2011.
Gilliom, R.J., J.E. Barbash, C.G. Crawford, P.A. Hamilton, J.D.
Martin, N. Nakagaki, L.H. Nowell, J.C. Scott, P.E. Stackelberg, G.P.
Thelin, and D.M. Wolock. 2007. The Quality of Our Nation's Waters--
Pesticides in the Nation's Streams and Ground Water, 1992-2001.
Appendix 7. Statistical Summaries of Water-Quality Data. U.S.
Geological Survey Circular 1291. 172 pp. Available on the Internet
at: https://water.usgs.gov/nawqa/pnsp/pubs/circ1291/appendix7/.
Gollapudi, B.B., K.M. Jackson, and W.T. Scott. 1998. Hepatic lacI
and cII mutation in transgenic ([lambda]LIZ) rats treated with
dimethylnitrosamine. Mutation Research 419:131-135.
Goto, Y., T. Matsuda, and K. Ito. 1999. Mutagenicities of N-
nitrosodimethylamine and N-nitrosodiethylamine in Drosophila and
their relationship to the levels of O-alkyl adducts in DNA. Mutation
Research 425(1):125-134.
Gray, R., R. Peto, P. Brantom, et al. 1991. Chronic nitrosamine
ingestion in 1040 rodents: the effect of the choice of nitrosamies,
the species studied and the age of starting exposure. Cancer
Research 51:6470-6491.
Grynpas, M.D. and P.J. Marie. 1990. Effects of low doses of
strontium on bone quality and quantity in rata. Bone 11(5):313-319.
Hajjar, N.P., M.E. Brower, P.A. Turck, C.L. Kruger, and W.R.
Hartley. 1992. 1,3-Dinitrobenzene (DNB). In Drinking Water Health
Advisory: Munitions. Lewis Publishers, Ann Arbor, MI. pp. 49-86.
Hamilton, P.A., T.L. Miller, and D.N. Myers. 2004. Water Quality in
the Nation's Streams and Aquifers: Overview of Selected Findings,
1991-2001. U.S. Geological Survey Circular 1265. Available on the
Internet at: https://water.usgs.gov/pubs/circ/2004/1265/pdf/circular1265.pdf.
Hazardous Substances Data Bank (HSDB). 2009. Available on the
Internet at: https://toxnet.nlm.nih.gov/cgi-bin/sis/htmlgen?HSDB.
Accessed August 10, 2009.
HSDB. 2010. Available on the Internet at: https://toxnet.nlm.nih.gov/cgi-bin/sis/htmlgen?HSDB. Accessed September 2010.
Hooth, M.J., A.B. DeAngelo, M.H. George, et al. 2001. Subchronic
sodium chlorate exposure in drinking water results in a
concentration-dependent increase in rat thyroid follicular cell
hyperplasia. Toxicologic Pathology 29(2):250-259.
Hopple, J.A., G.C. Delzer, and J.A. Kingsbury. 2009. Anthropogenic
Organic Compounds in Source Water of Selected Community Water
Systems that Use Groundwater, 2002-05. U.S. Geological Survey
Scientific Investigations Report 2009-5200. 74 pp. Available on the
Internet at: https://pubs.usgs.gov/sir/2009/5200/pdf/sir2009-5200.pdf.
IOM (Institute of Medicine). 2010. Dietary Reference Intakes for
Calcium and Vitamin D. Eds. Committee to Review Dietary Reference
Intakes for Vitamin D and Calcium. Institute of Medicine, Food and
Nutrition Board. Available on the Internet at: https://www.nap.edu/openbook.php?record_id=13050&page=1.
Jaffe, E.R. and D.E. Hultquist. 1989. Cytochrome b5 reductase
deficiency and enzymopenic hereditary methemoglobinemia In: The
Metabolic Basis of Inherited Disease. Scriver, C., A.L. Beaudet,
W.S. Sly, and D. Valle, eds. New York: McGraw Hill Information
Services Co. pp. 2267-2280.
Jarabek, A.M., L.H. Pottenger, L.S, Andrews, D. Casciano, M.R.
Embry, J.H. Kim, R.J. Preston, M.V. Reddy, R. Schoeny, D. Shuker, J.
Skare, J. Swenberg, G.M. Williams, and E. Zeiger. 2009. Creating
context for the use of DNA adduct data in cancer risk assessment: I.
Data organization. Critical Reviews in Toxicology 39(8):659-678.
Kamataki, T., K. Fujita, K. Nakayama, Y. Yamazaki, M. Miyamoto, and
N. Ariyoshi. 2002. Role of human cytochrome P450 (CYP) in the
metabolic activation of nitrosamine derivatives: Application of
genetically engineered Salmonella expressing human CYP. Drug
Metabolism Reviews 34(3):667-676.
Khan, M.A, SE. Fenton, A.E. Swank, S.D. Hester, A. Williams, and DC
Wolf. 2005. A mixture of ammonium perchlorate and sodium chlorate
enhances alterations of the pituitary-thyroid axis caused by the
individual chemicals in adult male F344 rats. Toxicologic Pathology
33(7):776-783.
Kingsbury, J.A., G.C. Delzer, and J.A. Hopple. 2008. Anthropogenic
Organic Compounds in Source Water of Nine Community Water Systems
that Withdraw from Streams, 2002-05. U.S. Geological Survey
Scientific Investigations Report 2008-5208. 66 pp. Available on the
Internet at: https://pubs.usgs.gov/sir/2008/5208/pdf/sir2008-5208.pdf.
Kushida, H., K. Fujita, A. Suzuki, M. Yamada, T. Endo, T. Nohmi, and
T. Kamataki. 2000. Metabolic activation of N-alkylnitrosamines in
genetically engineered Salmonella typhimurium expressing CYO2E1 or
CYP2A6 together with human NADPH-cytochrome P450 reductase.
Carcinogenesis 21(6):1227-1232.
La Vecchia, C., B. D'Avanzo, L. Airoldi, et al. 1995. Nitrosamine
intake and gastric cancer. Eur. J. Cancer Prev. 4:469-474.
Larsson, S.C., L. Bergkvist and A. Wolk. 2006. Processed meat
consumption, dietary nitrosamines and stomach cancer risk in a
cohort of Swedish women. International Journal of Cancer 119: 915-
919.
Leahy, P.P. and T.H. Thompson. 1994. The National Water-Quality
Assessment Program. U.S. Geological Survey Open-File Report 94-70. 4
pp. Available on the Internet at: https://water.usgs.gov/nawqa/NAWQA.OFR94-70.html. Accessed October 25, 2004.
Lee, W.T., S.S. Leung, D.M. Leung, et al. 1996. A Follow-up study on
the effects of calcium-supplement withdrawal and puberty on bone
acquisition of children. American Journal of Clinical Nutrition
64(1):71-77.
Lijinsky, W. 1987a. Carcinogenicity and mutagenicity of N-nitroso
compounds. Molecular Toxicology 1(1):107-119.
Lijinsky, W. 1987b. Structure-activity relations in carcinogenesis
by N-nitroso compounds. Cancer and Metastasis Reviews 6(3):301-356.
Linder, R.E., R.A. Hess, and L.F. Strader. 1986. Testicular toxicity
and infertility in male rats treated with 1,3-dinitrobenzene.
Journal of Toxicology and Environmental Health 19:477-489.
Lindsey, B.D., M.P. Berndt, B.G. Katz, A.F. Ardis, and K.A. Skach.
2008. Factors Affecting Water Quality in Selected Carbonate Aquifers
in the United States, 1993-2005. U.S. Geological Survey Scientific
Investigations Report 2008-5240. Available on the Internet at:
https://pubs.usgs.gov/sir/2008/5240/.
Loh, Y.H., P. Jakszyn, R.N. Luben, A.A. Mulligan, P.N. Mitrou, and
K. Khaw. 2011.
[[Page 62747]]
N-nitroso compounds and cancer incidence: the European Prospective
Investigation into Cancer and Nutrition (EPIC)-Norfolk Study.
American Journal of Clinical Nutrition 93:1053-61.
Luzzatto, L. and A. Mehta. 1989. Glucose-6-phosphate dehydrogenase
deficiency. In: The Metabolic Basis of Inherited Disease. Scriver,
C., A.L. Beaudet, W.S. Sly, and D. Valle, eds. New York: McGraw Hill
Information Services Co. Pp. 2237-2239.
Marie, P.J., M.T. Garba, M. Hott, and L. Miravet. 1985. Effects of
low doses of stable strontium on bone metabolism in rats. Mineral
and Electrolyte Metabolism 11(1):5-13.
Marie, P.J. and M. Hott. 1986. Short-term effects of fluoride and
strontium on bone formation and resorption in the mouse. Metabolism
35(6):547-551.
Martelli, A., L. Robbiano, G.M. Gazzaniga, and G. Brambilla. 1988.
Comparative study of DNA damage and repair induced by ten N-nitroso
compounds in primary cultures of human and rat hepatocytes. Cancer
Research 48(15):4144-4152.
Matkovic, V., P.K. Goel, NE. Badenshop-Stevens. 2005. Calcium
supplementation and bone mineral density in females from childhood
to young adulthood: a randomized controlled trial. American Journal
of Clinical Nutrition 81(1):175-188.
Matsumoto, A. 1976. Effect of strontium on the epiphyseal cartilage
plate of rat tibiae--Histological and radiographic studies. Japanese
Journal of Pharmacology 26:675-681.
McCauley, P.T., M. Robinson, F.B. Daniel, et al. 1995. The effects
of subchronic chlorate exposure in Sprague-Dawley rats. Drug and
Chemical Toxicology 18(2-3):185-199
McCoy, G.D., S.S. Hecht, and K. Furuya. 1986. The effect of chronic
ethanol consumption on the tumorigenicity of N-nitrosopyrrolidine in
male Syrian golden hamsters. Cancer Letters 33(2):151-159.
McGuire, M.J., J.L. McLain, and A. Obolensky. 2002. Information
Collection Rule Data Analysis. Sponsored by the Microbial/
Disinfection By-Products Research Council. Jointly funded by AwwaRF
and USEPA. Published by by AwwaRF and AWWA.
Mirvish, S. S. 1975. Formation of N-Nitroso compounds: chemistry,
kinetics, and in vivo occurrence. Toxicology and Applied
Pharmacology 31:325-351.
Mirvish, S. S. 1992. In vivo formation of N-Nitroso compounds:
formation from Nitrite and Nitrogen Dioxide, and relation to gastric
cancer. Nitrosamines and Human Cancer, Banbury Report 12 (ed. P. N.
Magee) Cold Spring Harbor Laboratory, New York, 227-241.
Mitch, W.A., SW. Krasner, P. Westerhoff, and A. Dotson. 2009.
Occurrence and Formation of Nitrogenous Distribution By-Products.
Water Research Foundation.
National Center for Food and Agricultural Policy (NCFAP). 2000.
Pesticide Use in U.S. Crop Production: 1997. National Summary
Report. Available on the Internet at: https://www.ncfap.org/documents/nationalsummary1997.pdf.
National Research Council (NRC). 2002. Opportunities to Improve the
U.S. Geological Survey National Water Quality Assessment Program.
National Academy Press. 238 pp. Available on the Internet at: https://www.nap.edu/catalog/10267.html.
National Toxicology Program (NTP). 2005a. NTP Technical Report on
the Toxicology and Carcinogenesis Studies of Sodium Chlorate (CAS
No. 7775-09-9) in F344/N Rats and B6C3F1 Mice (Drinking Water
Studies). NTP TR 517 NIH Publication No. 06-4457 National Institutes
of Health, Public Health Service, U.S. Department of Health and
Human Services. December, 2005. Available on the Internet at:https://ntp.niehs.nih.gov/ntp/htdocs/LT_rpts/tr517.pdf.
NTP. 2011. Substance Profiles--N-Nitrosodimethylamine. Report on
Carcinogens. Twelfth Edition. US Department of Health and Human
Services, Public Health Service. Available on the Internet at:
https://ntp.niehs.nih.gov/ntp/roc/twelfth/roc12.pdf
Neufeld, E.B. and A.L. Boskey. 1994. Strontium alters the complexed
acidic phospholipid content of mineralizing tissues. Bone 15(4):425-
430.
NIH (National Institutes of Health). 2011a. Dietary Supplement Fact
Sheet: Calcium. Office of Dietary Supplements Web site. https://ods.od.nih.gov/factsheets/calcium. Updated August 31, 2011. Accessed
November 28, 2011.
NIH (National Insititues of Health). 2011b. Information for Patients
About Paget's Disease of Bone. National Institute of Arthritis and
Musculoskeletal and Skin Diseases, NIH Osteoporosis and Related Bone
Diseases National Resource Center Web site. https://www.niams.nih.gov/Health_Info/Bone/Pagets/. Accessed January 31,
2012.
O'Day, R., J. Rench, and R. Oen, et al. 1998. Demographic
Distribution of Sensitive Populations Groups. US EPA, Office of
Water, Office of Science and Technology, Health and Ecological
Criteria Division. Contract No. 68-C6-0036. SRA 557-05/14. February
24.
Pennington, J.A.T. and J.W. Jones. 1987. Molybdenum, nickel, cobalt,
vanadium, and strontium in total diets. Journal of the American
Dietetic Association 87(12):1644-1650.
P[eacute]rez, D.M., G.G. Alatorre, E.B. [Aacute]lvarez, E.E. Silva,
and J.F.J. Alvarado. 2008. Solid-phase microextraction of N-
nitrosodimethylamine in beer. Food Chemistry 107(3):1348-1352.
Peto, R., R. Gray, P. Brantom, and P. Grasso. 1984. Nitrosamine
carcinogenesis in 5120 rodents: Chronic administration of sixteen
different concentrations of NDEA, NDMA, NPYR And NPIP in the water
of 4440 inbred rats, with parallel studies on NDEA alone of the
effect of age of starting (3, 6 or 20 weeks) and of species (rats,
mice or hamsters). IARC Scientific Publications 57:627-665.
Peto, R., R. Gray, P. Brantom, et al. 1991a. Dose and time
relationships for tumor induction in the liver and esophagus of 4080
inbred rats by chronic ingestion of N-nitrosodiethylamine or N-
nitrosodimethylamine. Cancer Research 51(23 Pt 2):6452-6469.
Peto R, R. Gray, P. Brantom, et al. 1991b. Effects on 4080 rats of
chronic ingestion of N-nitrosodiethylamine or N-
nitrosodimethylamine: a detailed dose-response study. Cancer Res.
51(23 Pt 2):6415-6451.
Ranalli, B. 2013. Chlorate and Nitrosamine Occurrence Data Gathered
by States and Reported to EPA During the Second Six[hyphen]Year
Review Process. Technical Memo from the Cadmus Group, June 21, 2013.
Rapp, W.R. 1974. A three and twenty-four month oral toxicity and
carcinogenicity study of AC 92 100 in rats. Unpublished report, Bio/
dynamics project No. 71R-725 (BASF RDI No. TE-427-001), from Bio/
dynamics Inc., East Millstone, NJ, USA (as cited in USEPA, 1988 and
2003c).
Righi E., et al. 2012. Trihalomethanes, chlorite, chlorate in
drinking water and risk of congenital anomalies: A population-based
case-control study in Northern Italy. Environmental Research. 116:
66-73.
Robbiano, L., E. Mereto, C. Corbu, and G. Brambilla. 1996. DNA
damage induced by seven N-nitroso compounds in primary cultures of
human and rat kidney cells. Mutation Research 368(1):41-47.
Schrooten, I., G.J. Behets, W.E. Cabrera, S.R. Vercauteren, L.V.
Lamberts, S.C. Verberckmoes, A.J. Bervoets, G. Dams, W.G. Goodman,
M.E. De Broe, and P.C. D'Haese. 2003. Dose-dependent effects of
strontium on bone of chronic renal failure rats. Kidney
International 63(3):927-935.
Schrooten, I., W. Cabrera, W.G. Goodman, S. Dauwe, L.V. Lamberts, R.
Marynissen, W. Dorrin[eacute], M.E. De Broe, and P.C. D'Haese. 1998.
Strontium causes osteomalacia in chronic renal failure rats. Kidney
International 54(2):448-456.
Shacklette, H.T. and J.G. Boerngen. 1984. Elemental concentrations
in soils and other surficial materials of the conterminous United
States. U.S. Geological Survey Professional Paper 1270: An account
of the concentrations of 50 chemical elements in samples of soils
and other regoliths.
Shellenberger, T. 1984. 28-Day Oral Toxicity in the Dog with AC
92,100: Report No. 87019. Unpublished study prepared by Tegeris
Laboratories Inc. 89 p. (as cited in USEPA, 2006c).
Shellenberger, T., and L.H. Billups. 1986. One-year oral toxicity
study in purebred beagle dogs with AC 92 100. Unpublished report No.
8414 (BASF RDI No. TE-427-002) from Tegeris Laboratories, Inc.,
Laurel, MD, USA (as cited in USEPA, 2003c).
Silverman, M.E.B, T.E. Shellenberger, L.H. Billups, and A.S.
Tegeris. 1986. Chronic dietary toxicity and oncogenicity study with
AC 92 100 in mice. Unpublished report No. 8422 (BASF RDI No. TE-428-
002) from Tegeris Laboratories, Inc., Laurel, MD, USA (as cited in
USEPA, 2003c).
Souliotis, V.L., J.H. van Delft, M.J. Steenwinkel, R.A. Baan, and
S.A. Kyrtopoulos. 1998. DNA adducts, mutant frequencies and mutation
spectra in lambda lacZ transgenic mice treated with N-
nitrosodimethylamine. Carcinogenesis 19(5):731-739.
Storey, E. 1961. Strontium ``rickets'': Bone, calcium and strontium
changes.
[[Page 62748]]
Australasian Annals of Medicine 10:213-222.
Straif, K., S.K. Weiland, M. Bungers, et al. 2000. Exposure to high
concentrations of nitrosamines and cancer mortality among a cohort
of rubber workers. Occupational and Environmental Medicine 57:180-
187.
Tinwell, H., P.A. Lefevre, and J. Ashby. 1994. Mutation studies with
dimethyl nitrosoamine in young and old lac I transgenic mice.
Mutation Research 307:501-508.
Toccalino, P.L., J.E. Norman, and K.J. Hitt. 2010. Quality of Source
Water from Public-supply Wells in the United States, 1993-2007. U.S.
Geological Survey Scientific Investigations Report 2010-5024. 206
pp. Available on the Internet at: https://pubs.usgs.gov/sir/2010/5024/.
Tothill, P., M.A. Smith, and S.H. Cohn. 1983. Whole-body and part-
body turnover of \85\Sr in Paget's disease. Physics in Medicine and
Biology 28(2):149-159.
Tricker, A. R. Pfundstein, B. & Preussmann, R. 1994 Nitrosatable
secondary amines: exogenous and endogenous exposure and nitrosation
in-vivo. Nitrosamines and Related N-Nitro Compounds: Chemistry and
Biochemistry (ed. R. N. Leoppky & C. J. Michejda) American Chemical
Society, Washington, DC, 93-101.
United States Department of Agriculture (USDA). 2004. USDA Pesticide
Data Program Water Monitoring Survey Overview. March 11, 2004.
Available on the Internet at: https://www.ams.usda.gov/AMSv1.0/getfile?dDocName=PDPWATOVIEW.
USDA. 2012. PDP--Databases and Annual Summaries. Available on the
Internet at: https://www.ams.usda.gov/AMSv1.0/ams.fetchTemplateData.do?template=TemplateG&topNav=&leftNav=ScienceandLaboratories&page=PDPDownloadData/Reports&description=Download+PDP+Data/Reports&acct=pestcddataprg.
Accessed February 15, 2012.
United States Environmental Protection Agency (USEPA). 1986.
Guidelines for Carcinogen Risk Assessment. Federal Register. Vol.
51, No. 185. p. 33992, September 24, 1986.
USEPA. 1988. Health Advisory for Terbufos. Office of Drinking Water.
USEPA. 1990a. IRIS Summary for Dimethoate. Available on the Internet
at: https://www.epa.gov/ncea/iris/subst/0044.htm.
USEPA. 1990b. 1990 IRIS Summary: m-Dinitrobenzene. National Center
for Environmental Assessment. Available on the Internet at: https://www.epa.gov/ncea/iris/subst/0318.htm.
USEPA. 1996. National Primary Drinking Water Regulations: Monitoring
Requirements for Public Drinking Water Supplies; Final Rule. Federal
Register. Vol. 61, No. 94, p. 24353. May 14, 1996.
USEPA. 1998. Announcement of the Drinking Water Contaminant
Candidate List; Notice. Federal Register. Vol. 63, No. 40, p. 10273.
March 2, 1998.
USEPA. 1999. Revisions to the Unregulated Contaminant Monitoring
Regulation for Public Water Systems; Final Rule. Federal Register.
Vol. 64, No. 180, p. 50556. September 17, 1999.
USEPA. 2000a. Unregulated Contaminant Monitoring Regulation for
Public Water Systems: Analytical Methods for Perchlorate and
Acetochlor; Announcement of Laboratory Approval and Performance
Testing (PT) Program for the Analysis of Perchlorate; Final Rule and
Proposed Rule. Federal Register. Vol. 65, No. 42, p. 11372. March 2,
2000.
USEPA. 2000b. National Drinking Water Advisory Council Minutes of
Meeting Held June 14, 2000. EPA 810-S-00-001. August 2000.
USEPA. 2001a. Unregulated Contaminant Monitoring Regulation for
Public Water Systems; Analytical Methods for List 2 Contaminants;
Clarifications to the Unregulated Contaminant Monitoring Regulation.
Federal Register. Vol. 66, No. 8, p. 2273. January 11, 2001.
USEPA. 2001b. Reference Guide for the Unregulated Contaminant
Monitoring Regulation. EPA 815-R-01-023. 65 pp. Office of Water.
October 2001. Available on the Internet at: https://www.epa.gov/ogwdw/ucmr/ucmr1/pdfs/guidance_ucmr1_ref_guide.pdf.
USEPA. 2002a. Community Water System Survey 2000. Volume I:
Overview. EPA 815-R-02-005A. December 2002. Available on the
Internet at: https://www.epa.gov/safewater/consumer/pdf/cwss_2000_volume_i.pdf.
USEPA. 2002b. Community Water System Survey 2000. Volume II:
Detailed Tables and Survey Methodology. EPA 815-R-02-005B. December
2002. Available on the Internet at: https://www.epa.gov/safewater/consumer/pdf/cwss_2000_volume_ii.pdf.
USEPA. 2002c. The Toxics Release Inventory (TRI) and Factors to
Consider When Using TRI Data. EPA 260-F-02-017. November 2002.
Available on the Internet at: https://www.epa.gov/tri/triprogram/FactorsToConPDF.pdf.
USEPA. 2003a. Announcement of Regulatory Determinations for Priority
Contaminants on the Drinking Water Contaminant Candidate List.
Federal Register. Vol. 68, No. 138, p. 42898. July 18, 2003.
USEPA. 2003b. How are the Toxics Release Inventory Data Used? EPA
260-R-002-004. May 2003. Available on the Internet at: https://www.epa.gov/tri/guide_docs/pdf/2003/2003_datausepaper.pdf.
USEPA. 2003c. Terbufos. First draft prepared by K.L. Hamernik from
the Office of Science Coordination and Policy Division. JMPR 333-
385. Available on the Internet at: https://whqlibdoc.who.int/publications/2004/924166519X_terbufos.pdf.
USEPA. 2004. Pesticide Industry Sales and Usage: 2000 and 2001
Market Estimates. Biological and Economic Analysis Division, Office
of Pesticide Programs. Available on the Internet at: https://www.epa.gov/opp00001/pestsales/.
USEPA. 2005a. Drinking Water Contaminant Candidate List 2; Final
Notice. Federal Register. Vol. 70, No. 36, p. 9071. February 24,
2005.
USEPA. 2005b. Guidelines for Carcinogen Risk Assessment. EPA 630-P-
03-001B. March 2005. Available on the Internet at: https://www.epa.gov/ttn/atw/cancer_guidelines_final_3-25-05.pdf.
USEPA. 2005c. Supplemental Guidance for Assessing Susceptibility to
Early-life Exposure to Carcinogens. EPA 630-R-03-003F. March 2005.
Available on the Internet at: https://www.epa.gov/ttn/atw/childrens_supplement_final.pdf.
USEPA. 2006a. Reregistration Eligibility Decision (RED) for
Inorganic Chlorates. EPA 738-R-06-014. Office of Prevention,
Pesticides and Toxic Substances. Available on the Internet at:
https://www.epa.gov/oppsrrd1/REDs/inorganicchlorates_red.pdf.
USEPA. 2006b. Revised Inorganic Chlorates. HED Chapter of the
Reregistration Eligibility Decision Document (RED). EPA-HQ-OPP-2005-
0507-0004. January 26, 2006. Available on the Internet at: https://www.regulations.gov/fdmspublic/component/main?main=DocketDetail&d=EPA-HQ-OPP-2005-0507.
USEPA. 2006c. Reregistration Eligibility Decision for Terbufos.
Office of Pesticide Programs. Available on the Internet at: https://www.epa.gov/pesticides/reregistration/REDs/terbufos_red.pdf.
USEPA. 2007a. Unregulated Contaminant Monitoring Regulation (UCMR)
for Public Water Systems Revisions; Final Rule. Federal Register.
Vol. 72, No. 2, p. 367. January 4, 2007.
USEPA. 2007b. Revised Interim Reregistration Decision for
Dimethoate. Available on the Internet at: https://www.epa.gov/pesticides/reregistration/REDs/dimethoate_ired_revised.pdf.
USEPA. 2008a. Drinking Water: Regulatory Determinations Regarding
Contaminants on the Second Drinking Water Contaminant Candidate
List. Federal Register. Vol. 73, No. 147, p. 44251. July 30, 2008.
USEPA. 2008b. The Analysis of Occurrence Data from the Unregulated
Contaminant Monitoring (UCM) Program and National Inorganics and
Radionuclides Survey (NIRS) in Support of Regulatory Determinations
for the Second Drinking Water Contaminant Candidate List. EPA 815-R-
08-014. June 2008.
USEPA. 2008c. The Analysis of Occurrence Data from the First
Unregulated Contaminant Monitoring Regulation (UCMR 1) in Support of
Regulatory Determinations for the Second Drinking Water Contaminant
Candidate List. EPA 815-R-08-012. June 2008.
USEPA. 2009a. Drinking Water Contaminant Candidate List 3--Final.
Federal Register. Vol. 74, No. 194, p. 51850. October 8, 2009.
USEPA. 2009b. The Analysis of Regulated Contaminant Occurrence Data
from Public Water Systems in Support of the Second Six-Year Review
of National Primary Drinking Water Regulations. EPA-815-B-09-006.
October 2009.
USEPA. 2009c. Community Water System Survey 2006. Volume I:
Overview. EPA 815-R-09-001. Available on the Internet at: https://water.epa.gov/infrastructure/drinkingwater/pws/upload/cwssreportvolumeI2006.pdf.
USEPA. 2009d. Community Water System Survey 2006. Volume II:
Detailed Tables and Survey Methodology. EPA 815-R-09-
[[Page 62749]]
002. Available on the Internet at: https://water.epa.gov/infrastructure/drinkingwater/pws/upload/cwssreportvolumeII2006.pdf.
USEPA. 2010a. Non-confidential Inventory Update Reporting (IUR).
Available on the Internet at: https://www.epa.gov/iur/.
Accessed July 1, 2010.
USEPA. 2010b. Non-confidential IUR Production Volume Information.
Available on the Internet at: https://epa.gov/cdr/tools/data/2002-vol.html. Accessed July 1, 2010.
USEPA. 2011a. Drinking Water: Regulatory Determination on
Perchlorate. Federal Register. Vol. 76, No. 29, p. 7762. February
11, 2011.
USEPA. 2011b. Letter from Acetochlor Registration Partnership
requesting regulation of chloroacetanilides, June 16, 2011.
USEPA. 2011c. Summary of Comments and Discussion, Preliminary
Regulatory Determinations for the Third Contaminant Candidate List
Stakeholder Meeting, June 16, 2011.
USEPA. 2011d. Support for Regulatory Determination 3 Expert Reviews;
October 26th and 27th 2011 Meeting Summary. December 2011.
USEPA. 2011e. Exposure Factors Handbook 2011 Edition (Final). U.S.
Environmental Protection Agency, Washington, DC, EPA/600/R-09/052F.
USEPA. 2011f. Pesticide Industry Sales and Usage: 2006 and 2007
Market Estimates. Biological and Economic Analysis Division, Office
of Pesticide Programs. Available on the Internet at: https://www.epa.gov/opp00001/pestsales/.
USEPA. 2012a. TRI Explorer: Trends. Available on the Internet at:
https://www.epa.gov/triexplorer/trends.htm. Accessed March 9, 2012.
USEPA. 2012b. Storage and Retrieval (STORET) Data Warehouse.
Available on the Internet at: https://www.epa.gov/storet/.
Data Warehouse consulted March 2012.
USEPA. 2012c. Age Dependent Adjustment Factor Application. Office of
Water Policy Document. Office of Science and Technology. Office of
Water. Washington, DC. Draft.
USEPA. 2014a. Protocol for the Regulatory Determinations 3.
Including Appendices A-F. April 2014. EPA Publication # 815-R14-005.
USEPA. 2014b. Regulatory Determinations 3 Support Document. April
2014. EPA Publication # 815-R14-003.
USEPA. 2014c. Health Effects Support Document for Strontium. EPA
Publication # 820-P14-001.
USEPA. 2014d. Occurrence Data from the Second Unregulated
Contaminant Monitoring Regulation (UCMR 2). April 2014. EPA
Publication # 815-R14-004
USEPA. 2014e. Preliminary analysis of monitoring results from the
January 2014 upload of the third Unregulated Contaminant Monitoring
(UCMR 3). April 2014.
United States Geological Survey (USGS). 2007. Pesticide National
Synthesis Project, 2002 Pesticide Use Maps. Available on the
Internet at: https://water.usgs.gov/nawqa/pnsp/usage/maps/compound_listing.php?year=02. Accessed October 30, 2008.
USGS. 2009. Strontium, from Mineral Commodities Summaries. January
2009. Pp. 158-159. Available on the Internet at: https://minerals.usgs.gov/minerals/pubs/commodity/strontium/mcs-2009-stron.pdf.
United States Renal Data System (USRDS). 2010. USRDS 2010 Annual
Data Report. Available online at: www.usrds.org/adr.htm. Accessed
November 8, 2010. (The USRDS End-Stage Renal Disease Incident and
Prevalent Quarterly Update is available at https://www.usrds.org/qtr/default.aspx.)
Van Sande, J., C. Massart, R. Beauwens, et al. 2003. Anion
selectivity by the sodium iodide symporter. Endocrinology. 144(1):
247-252.
Verna, L., J. Shysner, and G.M. Williams. 1996. N-
Nitrosodiethylamine mechanistic data and risk assessment:
Bioactivation, DNA-adduct formation, mutagenicity, and tumor
initiation. Pharmacology and Therapeutics 71(1-2):57-81.
Vesselinovitch, S.D., M. Koka, N. Mihailovich, and K.V.N. Rao. 1984.
Carcinogenicity of diethylnitrosamine in newborn, infant, and adult
mice. Journal of Cancer Research and Clinical Oncology 108(1):60-65.
von Gunten, U. 2003. Ozonation of drinking water: Part II.
Disinfection and by-product formation in presence of bromide, iodide
or chlorine. Water Research 37(7):1469-1487.
World Health Organization (WHO). 2005. Chlorite and Chlorate in
Drinking-water, Background Document for Development of WHO
Guidelines for Drinking-water Quality, WHO/SDE/WSH/05.08/86.
Yurchenko, S. and U. M[ouml]lder. 2007. The occurrence of volatile
N-nitrosamines in Estonian meat products. Food Chemistry
100(4):1713-1721.
Dated: October 3, 2014.
Gina A. McCarthy,
Administrator.
Appendix: HRL Derivation With Age-Related Exposure Factors
Derivation of the Health Reference Level (HRL) for Strontium Using Age-Specific Exposure Factors
----------------------------------------------------------------------------------------------------------------
Age-specific fractions
Age range DWI/BWR (L/kg/day) of a 19-year exposure Time-weighted DWI/BWR
duration (L/kg/day)
----------------------------------------------------------------------------------------------------------------
Birth to <1 month.................... 0.235 0.004 0.001
1 to <3 months....................... 0.228 0.009 0.002
3 to <6 months....................... 0.148 0.013 0.002
6 to <12 months...................... 0.112 0.026 0.003
1 to <2 years........................ 0.056 0.053 0.003
2 to <3 years........................ 0.052 0.053 0.003
3 to <6 years........................ 0.043 0.158 0.007
6 to <11 years....................... 0.035 0.263 0.009
11 to <16 years...................... 0.026 0.263 0.007
16 to <18 years...................... 0.023 0.105 0.002
18 to <21 years #.................... 0.026 0.053 0.001
----------------------------------------------------------------------------------------------------------------
Summation of the Time-Weighted DWI/BWRs =.............................................. 0.040 L/kg/day *
----------------------------------------------------------------------------------------------------------------
Reference Dose =....................................................................... 0.3 mg/kg/day
----------------------------------------------------------------------------------------------------------------
RSC =.................................................................................. 20%
----------------------------------------------------------------------------------------------------------------
\+\HRL = (0.3 mg/kg/day / 0.040 L/kg/day) x .20 =...................................... 1.500 mg/L
----------------------------------------------------------------------------------------------------------------
Final child specific HRL:.............................................................. 1500 [mu]g/L
----------------------------------------------------------------------------------------------------------------
----------------------------------------------------------------------------------------------------------------
* Rounded; # includes 18th year; DWI/BWR = drinking water intake to body weight ratio; HRL= health reference
level; RSC = relative source contribution.
\+\ HRL = (RfD/[sum](DWI/BWR x F)) x RSC.
[[Page 62750]]
The age-specific data on drinking water intakes in units of L/kg/
day from birth through age 3 are from Table 3-19 in the EPA Exposures
Factors Handbook (USEPA, 2011e) and from Table 3-38 for ages 3 to <19 .
The exposure duration adjustment was calculated by dividing the age-
specific fraction of a 19 year exposure by the total exposure in months
or years as appropriate (e.g., birth to <1 month = (1/12)/19 years =
0.00439; 6 to <11 years = 5/19 years = 0.26316). The time-weighted DWI/
BWR values are the product of the age-specific DWI/BWR multiplied by
the age-specific fraction of a 19 year exposure. The time-weighted DWI/
BWRs are summed to obtain the normalized value.
[FR Doc. 2014-24582 Filed 10-17-14; 8:45 am]
BILLING CODE 6560-50-P