World Trade Center Health Program; Petition 007-Autoimmune Diseases; Finding of Insufficient Evidence, 32333-32334 [2015-13914]
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Federal Register / Vol. 80, No. 109 / Monday, June 8, 2015 / Proposed Rules
substantial direct costs on Tribal
governments or preempt Tribal law.
SUPPLEMENTARY INFORMATION:
Table of Contents
List of Subjects in 40 CFR Part 52
Environmental protection, Air
pollution control, Carbon monoxide,
Incorporation by reference,
Intergovernmental relations, Lead,
Nitrogen dioxide, Ozone, Particulate
matter, Reporting and recordkeeping
requirements, Sulfur oxides, Volatile
organic compounds.
A. WTC Health Program Statutory Authority
B. Petition 007
C. Administrator’s Determination on Petition
007
A. WTC Health Program Statutory
Authority
Authority: 42 U.S.C. 7401 et seq.
Dated: May 28, 2015.
Heather McTeer Toney,
Regional Administrator, Region 4.
[FR Doc. 2015–13947 Filed 6–5–15; 8:45 am]
BILLING CODE 6560–50–P
DEPARTMENT OF HEALTH AND
HUMAN SERVICES
42 CFR Part 88
World Trade Center Health Program;
Petition 007—Autoimmune Diseases;
Finding of Insufficient Evidence
Centers for Disease Control and
Prevention, HHS.
ACTION: Denial of petition for addition of
a health condition.
AGENCY:
On April 6, 2015, the
Administrator of the World Trade
Center (WTC) Health Program received
a petition (Petition 007) to add certain
autoimmune diseases, including
rheumatoid arthritis and connective
tissues diseases, to the List of WTCRelated Health Conditions (List). Upon
reviewing the scientific and medical
literature, including information
provided by the petitioner, the
Administrator has determined that the
available evidence does not have the
potential to provide a basis for a
decision on whether to add certain
autoimmune diseases to the List. The
Administrator finds that insufficient
evidence exists to request a
recommendation of the WTC Health
Program Scientific/Technical Advisory
Committee (STAC), to publish a
proposed rule, or to publish a
determination not to publish a proposed
rule.
DATES: The Administrator of the WTC
Health Program is denying this petition
for the addition of a health condition as
of June 8, 2015.
FOR FURTHER INFORMATION CONTACT:
Rachel Weiss, Program Analyst, 1090
Tusculum Avenue, MS: C–46,
Cincinnati, OH 45226; telephone (855)
818–1629 (this is a toll-free number);
email NIOSHregs@cdc.gov.
mstockstill on DSK4VPTVN1PROD with PROPOSALS
SUMMARY:
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16:31 Jun 05, 2015
Jkt 235001
Title I of the James Zadroga 9/11
Health and Compensation Act of 2010
(Pub. L. 111–347), amended the Public
Health Service Act (PHS Act) to add
Title XXXIII 1 establishing the WTC
Health Program within the Department
of Health and Human Services (HHS).
The WTC Health Program provides
medical monitoring and treatment
benefits to eligible firefighters and
related personnel, law enforcement
officers, and rescue, recovery, and
cleanup workers who responded to the
September 11, 2001, terrorist attacks in
New York City, at the Pentagon, and in
Shanksville, Pennsylvania (responders),
and to eligible persons who were
present in the dust or dust cloud on
September 11, 2001 or who worked,
resided, or attended school, childcare,
or adult daycare in the New York City
disaster area (survivors).
All references to the Administrator of
the WTC Health Program
(Administrator) in this notice mean the
Director of the National Institute for
Occupational Safety and Health
(NIOSH) or his or her designee.
Pursuant to § 3312(a)(6)(B) of the PHS
Act, interested parties may petition the
Administrator to add a health condition
to the List in 42 CFR 88.1. Within 60
calendar days after receipt of a petition
to add a condition to the List, the
Administrator must take one of the
following four actions described in
§ 3312(a)(6)(B) and 42 CFR 88.17: (i)
Request a recommendation of the STAC;
(ii) publish a proposed rule in the
Federal Register to add such health
condition; (iii) publish in the Federal
Register the Administrator’s
determination not to publish such a
proposed rule and the basis for such
determination; or (iv) publish in the
Federal Register a determination that
insufficient evidence exists to take
action under (i) through (iii) above.
B. Petition 007
On April 6, 2015, the Administrator
received a petition to add ‘‘autoimmune
diseases, such as Rheumatoid Arthritis’’
1 Title XXXIII of the PHS Act is codified at 42
U.S.C. 300mm to 300mm–61. Those portions of the
Zadroga Act found in Titles II and III of Public Law
111–347 do not pertain to the WTC Health Program
and are codified elsewhere.
PO 00000
Frm 00019
Fmt 4702
Sfmt 4702
32333
to the List (Petition 007).2 The petition
was submitted by a WTC Health
Program member who responded to the
September 11, 2001, terrorist attacks in
New York City. The petitioner indicated
that she has been diagnosed with
rheumatoid arthritis, an autoimmune
disorder, and is currently receiving
treatment for a number of other WTCrelated health conditions. The petitioner
described an article published in the
Journal of Arthritis and Rheumatology
by Webber et al. [2015],3 which was
designed to test the hypothesis that
acute and chronic 9/11 work-related
exposures were associated with the risk
of certain new-onset systemic
autoimmune diseases.
C. Administrator’s Determination on
Petition 007
The Administrator has established a
methodology for evaluating whether to
add non-cancer health conditions to the
List of WTC-Related Health Conditions,
published online in the Policies and
Procedures section of the WTC Health
Program Web site.4 In accordance with
the methodology, the Administrator
directs the WTC Health Program
Associate Director for Science (ADS) to
conduct a review of the scientific
literature to determine if the available
scientific information has the potential
to provide a basis for a decision on
whether to add the condition to the List.
The literature review includes
published, peer-reviewed direct
observational and/or epidemiological
studies about the health condition
among 9/11-exposed populations. The
studies are reviewed for their relevance,
quantity, and quality to provide a basis
for deciding whether to propose adding
the health condition to the List. Where
the available evidence has the potential
to provide a basis for a decision, the
ADS further assesses the scientific and
medical evidence to determine whether
a causal relationship between 9/11
exposures and the health condition is
supported. A health condition may be
added to the List if published, peerreviewed direct observational or
epidemiologic studies provide
2 See Petition 007. WTC Health Program: Petitions
Received. https://www.cdc.gov/wtc/received.html.
3 Webber M.P., Moir W., Zeig-Owens R., Glaser
M.S., Jaber N., Hall C., Berman J., Qayyum B.,
Loupasakis K., Kelly K., and Prezant D.J. [2015].
Nested case-control study of selected systemic
autoimmune diseases in World Trade Center
rescue/recovery workers. Journal of Arthritis &
Rheumatology 67(5):1369–1376.
4 ‘‘Policy and Procedures for Adding Non-Cancer
Conditions to the List of WTC-Related Health
Conditions,’’ John Howard, MD, Administrator of
the WTC Health Program, October 21, 2014.
https://www.cdc.gov/wtc/pdfs/WTCHP_PP_Adding_
NonCancers_21_Oct_2014.pdf.
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32334
Federal Register / Vol. 80, No. 109 / Monday, June 8, 2015 / Proposed Rules
mstockstill on DSK4VPTVN1PROD with PROPOSALS
substantial support 5 for a causal
relationship between 9/11 exposures
and the health condition in 9/11exposed populations. If the evidence
assessment provides only modest
support 6 for a causal relationship
between 9/11 exposures and the health
condition, the Administrator may then
evaluate additional published, peerreviewed epidemiologic studies,
conducted among non-9/11-exposed
populations, evaluating associations
between the health condition of interest
and 9/11 agents.7 If that additional
assessment establishes substantial
support for a causal relationship
between a 9/11 agent or agents and the
health condition, the health condition
may be added to the List.
In accordance with § 3312(a)(6)(B) of
the PHS Act, 42 CFR 88.17, and the
methodology for the addition of noncancer health conditions to the List, the
Administrator reviewed the evidence
presented in Petition 007. Although the
petitioner specifically requested the
addition of certain autoimmune diseases
such as rheumatoid arthritis and
connective tissue diseases, the
Administrator determined that the
scope of the petition properly includes
all of the autoimmune diseases
identified in Webber et al. Accordingly,
the ADS conducted a systematic
literature search of the published
scientific and medical literature for
evidence of a causal relationship
between 9/11 exposures and the
autoimmune disorders described in
Webber et al.8 Those autoimmune
disorders include: Systemic lupus
erythematosus, antiphospholipid
syndrome, systemic sclerosis,
¨
inflammatory myositis, Sjogren’s
syndrome, rheumatoid arthritis,
spondyloarthritis, granulomatosis with
polyangiitis (Wegener’s), and
eosinophilic granulomatosis with
polyangiitis (Churg-Strauss).
5 The substantial evidence standard is met when
the Program assesses all of the available, relevant
information and determines with high confidence
that the evidence supports its findings regarding a
causal association between the 9/11 exposure(s) and
the health condition.
6 The modest evidence standard is met when the
Program assesses all of the available, relevant
information and determines with moderate
confidence that the evidence supports its findings
regarding a causal association between the 9/11
exposure(s) and the health condition.
7 9/11 agents are chemical, physical, biological, or
other agents or hazards reported in a published,
peer-reviewed exposure assessment study of
responders or survivors who were present in the
New York City disaster area, or at the Pentagon site,
or in Shanksville, Pennsylvania site as those
locations are defined in 42 CFR 88.1.
8 Databases searched include: PubMed, Health &
Safety Science Abstracts, Toxicology Abstracts,
Toxline, Scopus, and Embase.
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16:31 Jun 05, 2015
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Other than the Webber study, the
literature search yielded no relevant
epidemiologic studies, and no direct
observational studies.9 In accordance
with the methodology described above,
the ADS assessed Webber et al. for
quality and found significant
limitations. Those limitations include
low statistical power (due to the small
number of cases); lack of information
about other key confounders (e.g.,
family history of autoimmune diseases,
history of viral infections or vaccination
preceding diagnosis of the autoimmune
disease, use of pharmaceutical agents
and non-WTC-related exposures, both
work-related and recreational); and
potential for measurement error of
chronic exposure (i.e., because a month
of 9/11-related exposures was
represented by at least 1 day spent at the
WTC site, the duration variable did not
differentiate between those with one
day and those with many days of
exposure in a given month; however,
this measurement approach was nondifferential between the cases and
controls). Finally, participants were
from the Fire Department of New York
cohort only and predominantly a white
male population which raises concern
for generalizability to other 9/11exposed groups, including female
responders and survivors. Thus, the
ADS concluded that the available
information did not have the potential
to form the basis for a decision on
whether to propose adding the
following conditions to the List of WTCRelated Health Conditions: Systemic
lupus erythematosus, antiphospholipid
syndrome, systemic sclerosis,
¨
inflammatory myositis, Sjogren’s
syndrome, rheumatoid arthritis,
spondyloarthritis, granulomatosis with
polyangiitis (Wegener’s), or eosinophilic
granulomatosis with polyangiitis
(Churg-Strauss).
The findings described above led the
Administrator to determine that
insufficient evidence exists to take
further action, including either
proposing the addition of the
autoimmune diseases identified above
to the List (pursuant to PHS Act,
§ 3312(a)(6)(B)(ii) and 42 CFR
88.17(a)(2)(ii)) or publishing a
determination not to publish a proposed
rule in the Federal Register (pursuant to
PHS Act, § 3312(a)(6)(B)(iii) and 42 CFR
88.17(a)(2)(iii)). The Administrator has
also determined that requesting a
recommendation from the STAC
(pursuant to PHS Act, § 3312(a)(6)(B)(i)
and 42 CFR 88.17(a)(2)(i)) is
unwarranted.
9 Only epidemiologic studies of 9/11-exposed
populations were considered to be relevant.
PO 00000
Frm 00020
Fmt 4702
Sfmt 4702
For the reasons discussed above, the
request made in Petition 007 to add
certain autoimmune diseases to the List
of WTC-Related Health Conditions,
including: Systemic lupus
erythematosus, antiphospholipid
syndrome, systemic sclerosis,
¨
inflammatory myositis, Sjogren’s
syndrome, rheumatoid arthritis,
spondyloarthritis, granulomatosis with
polyangiitis (Wegener’s), and
eosinophilic granulomatosis with
polyangiitis (Churg-Strauss), is denied.
The Administrator is aware that
another study of autoimmune diseases
among World Trade Center enrollees is
being conducted by the World Trade
Center Health Registry; however, results
from this study are not yet available in
the scientific literature. The
Administrator will monitor the
scientific literature for publication of
the results of this study and any other
studies that address autoimmune
diseases among World Trade Center
exposed populations.
Dated: June 1, 2015.
John Howard,
Administrator, World Trade Center Health
Program and Director, National Institute for
Occupational Safety and Health, Centers for
Disease Control and Prevention, Department
of Health and Human Services.
[FR Doc. 2015–13914 Filed 6–5–15; 8:45 am]
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44 CFR Part 67
[Docket ID FEMA–2015–0001; Internal
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Proposed Flood Elevation
Determinations for Lafayette Parish,
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Federal Emergency
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ACTION: Proposed rule; withdrawal.
AGENCY:
The Federal Emergency
Management Agency (FEMA) is
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determinations for Lafayette Parish,
Louisiana, and Incorporated Areas.
DATES: This withdrawal is effective on
June 8, 2015.
ADDRESSES: You may submit comments,
identified by Docket Nos. FEMA–B–
7759, FEMA–B–1138 and FEMA–B–
1208, to Luis Rodriguez, Chief,
SUMMARY:
E:\FR\FM\08JNP1.SGM
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[Federal Register Volume 80, Number 109 (Monday, June 8, 2015)]
[Proposed Rules]
[Pages 32333-32334]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2015-13914]
=======================================================================
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DEPARTMENT OF HEALTH AND HUMAN SERVICES
42 CFR Part 88
World Trade Center Health Program; Petition 007--Autoimmune
Diseases; Finding of Insufficient Evidence
AGENCY: Centers for Disease Control and Prevention, HHS.
ACTION: Denial of petition for addition of a health condition.
-----------------------------------------------------------------------
SUMMARY: On April 6, 2015, the Administrator of the World Trade Center
(WTC) Health Program received a petition (Petition 007) to add certain
autoimmune diseases, including rheumatoid arthritis and connective
tissues diseases, to the List of WTC-Related Health Conditions (List).
Upon reviewing the scientific and medical literature, including
information provided by the petitioner, the Administrator has
determined that the available evidence does not have the potential to
provide a basis for a decision on whether to add certain autoimmune
diseases to the List. The Administrator finds that insufficient
evidence exists to request a recommendation of the WTC Health Program
Scientific/Technical Advisory Committee (STAC), to publish a proposed
rule, or to publish a determination not to publish a proposed rule.
DATES: The Administrator of the WTC Health Program is denying this
petition for the addition of a health condition as of June 8, 2015.
FOR FURTHER INFORMATION CONTACT: Rachel Weiss, Program Analyst, 1090
Tusculum Avenue, MS: C-46, Cincinnati, OH 45226; telephone (855) 818-
1629 (this is a toll-free number); email NIOSHregs@cdc.gov.
SUPPLEMENTARY INFORMATION:
Table of Contents
A. WTC Health Program Statutory Authority
B. Petition 007
C. Administrator's Determination on Petition 007
A. WTC Health Program Statutory Authority
Title I of the James Zadroga 9/11 Health and Compensation Act of
2010 (Pub. L. 111-347), amended the Public Health Service Act (PHS Act)
to add Title XXXIII \1\ establishing the WTC Health Program within the
Department of Health and Human Services (HHS). The WTC Health Program
provides medical monitoring and treatment benefits to eligible
firefighters and related personnel, law enforcement officers, and
rescue, recovery, and cleanup workers who responded to the September
11, 2001, terrorist attacks in New York City, at the Pentagon, and in
Shanksville, Pennsylvania (responders), and to eligible persons who
were present in the dust or dust cloud on September 11, 2001 or who
worked, resided, or attended school, childcare, or adult daycare in the
New York City disaster area (survivors).
---------------------------------------------------------------------------
\1\ Title XXXIII of the PHS Act is codified at 42 U.S.C. 300mm
to 300mm-61. Those portions of the Zadroga Act found in Titles II
and III of Public Law 111-347 do not pertain to the WTC Health
Program and are codified elsewhere.
---------------------------------------------------------------------------
All references to the Administrator of the WTC Health Program
(Administrator) in this notice mean the Director of the National
Institute for Occupational Safety and Health (NIOSH) or his or her
designee.
Pursuant to Sec. 3312(a)(6)(B) of the PHS Act, interested parties
may petition the Administrator to add a health condition to the List in
42 CFR 88.1. Within 60 calendar days after receipt of a petition to add
a condition to the List, the Administrator must take one of the
following four actions described in Sec. 3312(a)(6)(B) and 42 CFR
88.17: (i) Request a recommendation of the STAC; (ii) publish a
proposed rule in the Federal Register to add such health condition;
(iii) publish in the Federal Register the Administrator's determination
not to publish such a proposed rule and the basis for such
determination; or (iv) publish in the Federal Register a determination
that insufficient evidence exists to take action under (i) through
(iii) above.
B. Petition 007
On April 6, 2015, the Administrator received a petition to add
``autoimmune diseases, such as Rheumatoid Arthritis'' to the List
(Petition 007).\2\ The petition was submitted by a WTC Health Program
member who responded to the September 11, 2001, terrorist attacks in
New York City. The petitioner indicated that she has been diagnosed
with rheumatoid arthritis, an autoimmune disorder, and is currently
receiving treatment for a number of other WTC-related health
conditions. The petitioner described an article published in the
Journal of Arthritis and Rheumatology by Webber et al. [2015],\3\ which
was designed to test the hypothesis that acute and chronic 9/11 work-
related exposures were associated with the risk of certain new-onset
systemic autoimmune diseases.
---------------------------------------------------------------------------
\2\ See Petition 007. WTC Health Program: Petitions Received.
https://www.cdc.gov/wtc/received.html.
\3\ Webber M.P., Moir W., Zeig-Owens R., Glaser M.S., Jaber N.,
Hall C., Berman J., Qayyum B., Loupasakis K., Kelly K., and Prezant
D.J. [2015]. Nested case-control study of selected systemic
autoimmune diseases in World Trade Center rescue/recovery workers.
Journal of Arthritis & Rheumatology 67(5):1369-1376.
---------------------------------------------------------------------------
C. Administrator's Determination on Petition 007
The Administrator has established a methodology for evaluating
whether to add non-cancer health conditions to the List of WTC-Related
Health Conditions, published online in the Policies and Procedures
section of the WTC Health Program Web site.\4\ In accordance with the
methodology, the Administrator directs the WTC Health Program Associate
Director for Science (ADS) to conduct a review of the scientific
literature to determine if the available scientific information has the
potential to provide a basis for a decision on whether to add the
condition to the List. The literature review includes published, peer-
reviewed direct observational and/or epidemiological studies about the
health condition among 9/11-exposed populations. The studies are
reviewed for their relevance, quantity, and quality to provide a basis
for deciding whether to propose adding the health condition to the
List. Where the available evidence has the potential to provide a basis
for a decision, the ADS further assesses the scientific and medical
evidence to determine whether a causal relationship between 9/11
exposures and the health condition is supported. A health condition may
be added to the List if published, peer-reviewed direct observational
or epidemiologic studies provide
[[Page 32334]]
substantial support \5\ for a causal relationship between 9/11
exposures and the health condition in 9/11-exposed populations. If the
evidence assessment provides only modest support \6\ for a causal
relationship between 9/11 exposures and the health condition, the
Administrator may then evaluate additional published, peer-reviewed
epidemiologic studies, conducted among non-9/11-exposed populations,
evaluating associations between the health condition of interest and 9/
11 agents.\7\ If that additional assessment establishes substantial
support for a causal relationship between a 9/11 agent or agents and
the health condition, the health condition may be added to the List.
---------------------------------------------------------------------------
\4\ ``Policy and Procedures for Adding Non-Cancer Conditions to
the List of WTC-Related Health Conditions,'' John Howard, MD,
Administrator of the WTC Health Program, October 21, 2014. https://www.cdc.gov/wtc/pdfs/WTCHP_PP_Adding_NonCancers_21_Oct_2014.pdf.
\5\ The substantial evidence standard is met when the Program
assesses all of the available, relevant information and determines
with high confidence that the evidence supports its findings
regarding a causal association between the 9/11 exposure(s) and the
health condition.
\6\ The modest evidence standard is met when the Program
assesses all of the available, relevant information and determines
with moderate confidence that the evidence supports its findings
regarding a causal association between the 9/11 exposure(s) and the
health condition.
\7\ 9/11 agents are chemical, physical, biological, or other
agents or hazards reported in a published, peer-reviewed exposure
assessment study of responders or survivors who were present in the
New York City disaster area, or at the Pentagon site, or in
Shanksville, Pennsylvania site as those locations are defined in 42
CFR 88.1.
---------------------------------------------------------------------------
In accordance with Sec. 3312(a)(6)(B) of the PHS Act, 42 CFR
88.17, and the methodology for the addition of non-cancer health
conditions to the List, the Administrator reviewed the evidence
presented in Petition 007. Although the petitioner specifically
requested the addition of certain autoimmune diseases such as
rheumatoid arthritis and connective tissue diseases, the Administrator
determined that the scope of the petition properly includes all of the
autoimmune diseases identified in Webber et al. Accordingly, the ADS
conducted a systematic literature search of the published scientific
and medical literature for evidence of a causal relationship between 9/
11 exposures and the autoimmune disorders described in Webber et al.\8\
Those autoimmune disorders include: Systemic lupus erythematosus,
antiphospholipid syndrome, systemic sclerosis, inflammatory myositis,
Sj[ouml]gren's syndrome, rheumatoid arthritis, spondyloarthritis,
granulomatosis with polyangiitis (Wegener's), and eosinophilic
granulomatosis with polyangiitis (Churg-Strauss).
---------------------------------------------------------------------------
\8\ Databases searched include: PubMed, Health & Safety Science
Abstracts, Toxicology Abstracts, Toxline, Scopus, and Embase.
---------------------------------------------------------------------------
Other than the Webber study, the literature search yielded no
relevant epidemiologic studies, and no direct observational studies.\9\
In accordance with the methodology described above, the ADS assessed
Webber et al. for quality and found significant limitations. Those
limitations include low statistical power (due to the small number of
cases); lack of information about other key confounders (e.g., family
history of autoimmune diseases, history of viral infections or
vaccination preceding diagnosis of the autoimmune disease, use of
pharmaceutical agents and non-WTC-related exposures, both work-related
and recreational); and potential for measurement error of chronic
exposure (i.e., because a month of 9/11-related exposures was
represented by at least 1 day spent at the WTC site, the duration
variable did not differentiate between those with one day and those
with many days of exposure in a given month; however, this measurement
approach was non-differential between the cases and controls). Finally,
participants were from the Fire Department of New York cohort only and
predominantly a white male population which raises concern for
generalizability to other 9/11-exposed groups, including female
responders and survivors. Thus, the ADS concluded that the available
information did not have the potential to form the basis for a decision
on whether to propose adding the following conditions to the List of
WTC-Related Health Conditions: Systemic lupus erythematosus,
antiphospholipid syndrome, systemic sclerosis, inflammatory myositis,
Sj[ouml]gren's syndrome, rheumatoid arthritis, spondyloarthritis,
granulomatosis with polyangiitis (Wegener's), or eosinophilic
granulomatosis with polyangiitis (Churg-Strauss).
---------------------------------------------------------------------------
\9\ Only epidemiologic studies of 9/11-exposed populations were
considered to be relevant.
---------------------------------------------------------------------------
The findings described above led the Administrator to determine
that insufficient evidence exists to take further action, including
either proposing the addition of the autoimmune diseases identified
above to the List (pursuant to PHS Act, Sec. 3312(a)(6)(B)(ii) and 42
CFR 88.17(a)(2)(ii)) or publishing a determination not to publish a
proposed rule in the Federal Register (pursuant to PHS Act, Sec.
3312(a)(6)(B)(iii) and 42 CFR 88.17(a)(2)(iii)). The Administrator has
also determined that requesting a recommendation from the STAC
(pursuant to PHS Act, Sec. 3312(a)(6)(B)(i) and 42 CFR 88.17(a)(2)(i))
is unwarranted.
For the reasons discussed above, the request made in Petition 007
to add certain autoimmune diseases to the List of WTC-Related Health
Conditions, including: Systemic lupus erythematosus, antiphospholipid
syndrome, systemic sclerosis, inflammatory myositis, Sj[ouml]gren's
syndrome, rheumatoid arthritis, spondyloarthritis, granulomatosis with
polyangiitis (Wegener's), and eosinophilic granulomatosis with
polyangiitis (Churg-Strauss), is denied.
The Administrator is aware that another study of autoimmune
diseases among World Trade Center enrollees is being conducted by the
World Trade Center Health Registry; however, results from this study
are not yet available in the scientific literature. The Administrator
will monitor the scientific literature for publication of the results
of this study and any other studies that address autoimmune diseases
among World Trade Center exposed populations.
Dated: June 1, 2015.
John Howard,
Administrator, World Trade Center Health Program and Director, National
Institute for Occupational Safety and Health, Centers for Disease
Control and Prevention, Department of Health and Human Services.
[FR Doc. 2015-13914 Filed 6-5-15; 8:45 am]
BILLING CODE 4163-18P