Prohibition of Children's Toys and Child Care Articles Containing Specified Phthalates, 49938-49982 [2017-23267]
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Federal Register / Vol. 82, No. 207 / Friday, October 27, 2017 / Rules and Regulations
CONSUMER PRODUCT SAFETY
COMMISSION
16 CFR Part 1307
[Docket No. CPSC–2014–0033]
Prohibition of Children’s Toys and
Child Care Articles Containing
Specified Phthalates
Consumer Product Safety
Commission.
ACTION: Final rule.
AGENCY:
The United States Consumer
Product Safety Commission
(Commission or CPSC) issues this final
rule prohibiting children’s toys and
child care articles that contain
concentrations of more than 0.1 percent
of diisononyl phthalate (DINP),
diisobutyl phthalate (DIBP), di-n-pentyl
phthalate (DPENP), di-n-hexyl phthalate
(DHEXP), and dicyclohexyl phthalate
(DCHP). Section 108 of the Consumer
Product Safety Improvement Act of
2008 (CPSIA) established permanent
and interim prohibitions on the sale of
certain consumer products containing
specific phthalates. That provision also
directed the CPSC to convene a Chronic
Hazard Advisory Panel (CHAP) to study
the effects on children’s health of all
phthalates and phthalate alternatives as
used in children’s toys and child care
articles and to provide
recommendations to the Commission
regarding whether any phthalates or
phthalate alternatives, other than those
already permanently prohibited, should
be prohibited. The CPSIA requires the
Commission to promulgate a final rule
after receiving the final CHAP report.
This rule fulfills that requirement.
DATES: The rule will become effective
on April 25, 2018.
FOR FURTHER INFORMATION CONTACT: For
information related to the phthalates
prohibitions, contact: Carol L.
Afflerbach, Compliance Officer, Office
of Compliance and Field Operations,
Consumer Product Safety Commission,
4330 East West Highway, Bethesda, MD
20814–4408; telephone: 301–504–7529;
email: cafflerbach@cpsc.gov.
SUPPLEMENTARY INFORMATION:
Outline. The information in this
preamble is organized as follows:
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SUMMARY:
I. Background
A. Consumer Product Safety Improvement
Act
1. Statutory Prohibitions
2. Chronic Hazard Advisory Panel
3. Rulemaking
B. The Proposed Rule
C. Additional NHANES Analysis
D. Public Comments
E. Final Rule
II. Legal Authority
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A. Summary of Legal Authority
B. Comments Regarding Legal Authority
1. The Information Quality Act
2. CPSIA Requirements for the CHAP
3. CPSIA’s Requirements for the
Rulemaking
4. The APA’s Requirements
III. The CHAP
A. CPSIA Direction
B. The CHAP’s Process
C. The CHAP Report
1. Health Effects
2. Exposure
3. Phthalates Risk Assessment
4. CHAP’s Recommendations to the
Commission
D. Comments Regarding the CHAP
1. Peer Review
2. CHAP’s Transparency and Openness
3. Weight of Evidence and Completeness of
CHAP’s Review
IV. Final Rule and Rationale
A. Hazard: Phthalates’ Effect on Male
Reproductive Development
1. Summary
2. Comments Concerning MRDE
B. Exposure to Phthalates
1. Human Biomonitoring Data
2. Scenario-Based Exposure Assessment
C. Risk Assessment
1. Cumulative Risk Assessment
2. Risk in Isolation
D. Assessments/Determination for Each
Phthalate
1. Phthalates Subject to the Interim
Prohibition
2. Phthalates Subject to the Rule But Not
Currently Prohibited Under the CPSIA
E. The Concentration Limit
F. International and Other Countries’
Requirements for Children’s Toys and
Child Care Articles Containing
Phthalates
1. Summary of Requirements
2. Comments Concerning Other Countries’
and International Requirements
G. Description of the Final Rule
H. Effective Date
V. Regulatory Flexibility Act
A. Certification
B. Comments Concerning Impact on Small
Business
VI. Notice of Requirements
VII. Paperwork Reduction Act
VIII. Preemption
IX. Environmental Considerations
X. List of References
I. Background
A. Consumer Product Safety
Improvement Act
In accordance with the Consumer
Product Safety Improvement Act of
2008 (CPSIA), the Commission issues
this final rule prohibiting children’s
toys and child care articles containing
concentrations of more than 0.1 percent
of certain phthalates.1
1 The Commission voted 3–2 to publish this final
rule in the Federal Register. Commissioners Robert
S. Adler, Marietta S. Robinson, and Elliot F. Kaye
voted to publish this final rule. Acting Chairman
Anne Marie Buerkle and Commissioner Joseph
Mohorovic voted against publication of this final
rule.
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1. Statutory Prohibitions
Section 108 of the CPSIA establishes
requirements concerning phthalates.
Section 108(a) of the CPSIA
permanently prohibits the manufacture
for sale, offer for sale, distribution in
commerce, or importation into the
United States of any ‘‘children’s toy or
child care article’’ that contains
concentrations of more than 0.1 percent
of di(2-ethylhexyl) phthalate (DEHP),
dibutyl phthalate (DBP), or butyl benzyl
phthalate (BBP). 15 U.S.C. 2057c(a). In
addition, section 108(b)(1) prohibits on
an interim basis (i.e., until the
Commission promulgates a final rule),
the manufacture for sale, offer for sale,
distribution in commerce, or
importation into the United States of
‘‘any children’s toy that can be placed
in a child’s mouth’’ or ‘‘child care
article’’ containing concentrations of
more than 0.1 percent of diisononyl
phthalate (DINP), diisodecyl phthalate
(DIDP), or di-n-octyl phthalate (DNOP).
Id. 2057c(b)(1). The CPSIA provides the
following definitions:
• ‘‘Children’s toy’’ is ‘‘a consumer
product designed or intended by the
manufacturer for a child 12 years of age
or younger for use by the child when the
child plays.’’
• ‘‘child care article’’ is ‘‘a consumer
product designed or intended by the
manufacturer to facilitate sleep or the
feeding of children age 3 and younger,
or to help such children with sucking or
teething.’’
• A ‘‘toy can be place in a child’s
mouth if any part of the toy can actually
be brought to the mouth and kept in the
mouth by a child so that it can be
sucked and chewed. If the children’s
product can only be licked, it is not
regarded as able to be placed in the
mouth. If a toy or part of a toy in one
dimension is smaller than 5 centimeters,
it can be placed in the mouth.’’
Id. 2057c(g). These statutory
prohibitions became effective in
February 2009. The interim prohibitions
remain in effect until the Commission
issues a final rule determining whether
to make the interim prohibitions
permanent. Id. 2057c(b)(1).
2. Chronic Hazard Advisory Panel
The CPSIA directs the CPSC to
convene a Chronic Hazard Advisory
Panel (CHAP) ‘‘to study the effects on
children’s health of all phthalates and
phthalate alternatives as used in
children’s toys and child care articles.’’
Id. 2057c(b)(2). A ‘‘phthalate
alternative’’ is ‘‘any common substitute
to a phthalate, alternative material to a
phthalate, or alternative plasticizer.’’ Id.
2057c(g). The CHAP is to recommend to
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the Commission whether any phthalates
or phthalate alternatives other than
those permanently prohibited should be
declared banned hazardous substances.
Id. 2057c(b)(2)(C).
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3. Rulemaking
The CPSIA requires the Commission
to promulgate a final rule, pursuant to
section 553 of the Administrative
Procedure Act (APA), not later than 180
days after the Commission receives the
final CHAP report. The Commission
must ‘‘determine, based on such report,
whether to continue in effect the
[interim] prohibition . . . , in order to
ensure a reasonable certainty of no harm
to children, pregnant women, or other
susceptible individuals with an
adequate margin of safety. . . .’’ 15
U.S.C. 2057c(b)(3)(A). Additionally, the
Commission must ‘‘evaluate the
findings and recommendations of the
Chronic Hazard Advisory Panel and
declare any children’s product
containing any phthalates to be a
banned hazardous product under
section 8 of the Consumer Product
Safety Act (15 U.S.C. 2057), as the
Commission determines necessary to
protect the health of children.’’ Id.
(b)(3)(B).
B. The Proposed Rule
On December 30, 2014, the
Commission published a notice of
proposed rulemaking (NPR) in the
Federal Register. 79 FR 78324. The
preamble to the NPR summarized the
CHAP report, explaining the CHAP’s
review of potential health effects of
phthalates in animals and humans, the
CHAP’s assessment of human exposure
to phthalates, the CHAP’s assessment of
risk (both cumulative and in isolation)
of various phthalates, and the CHAP’s
recommendations to the Commission.
The preamble to the NPR then provided
CPSC staff’s assessment of the CHAP
report and stated the Commission’s
description of the proposed rule and its
explanation of the rationale for the
proposal.
The NPR generally followed the
recommendations of the CHAP report.
As explained further in section III of
this preamble, the CHAP focused on
certain phthalates’ effect on male
reproductive development. After
reviewing relevant studies, the CHAP
found that certain phthalates (which the
CHAP called active or antiandrogenic)
cause adverse effects on the developing
male reproductive tract. The CHAP
determined that these phthalates act in
a cumulative fashion. The CHAP
concluded that DINP is an active
(antiandrogenic) phthalate. Based on the
cumulative risk assessment conducted
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by the CHAP, the Commission
determined that ‘‘to ensure a reasonable
certainty of no harm to children,
pregnant women, or other susceptible
individuals with an adequate margin of
safety,’’ the Commission proposed to
permanently prohibit children’s toys
and child care articles containing
concentrations of more than 0.1 percent
of DINP. The Commission proposed
making the interim prohibition
concerning DINP permanent because the
Commission concluded that allowing
the use of DINP in children’s toys and
child care articles would further
increase the cumulative risk to male
reproductive development. Although
the interim prohibition applies to
children’s toys that can be placed in a
child’s mouth and child care articles,
the NPR proposed permanently
prohibiting DINP in all children’s toys
and child care articles. 79 FR at 78334–
35.
The Commission proposed lifting the
interim prohibitions regarding DIDP and
DNOP. The Commission agreed with the
CHAP that DIDP and DNOP are not
antiandrogenic, and therefore, they do
not contribute to the cumulative risk
from antiandrogenic phthalates. The
CHAP determined that neither phthalate
poses a risk in isolation. Therefore, the
Commission concluded that continuing
the prohibitions regarding DIDP and
DNOP is not necessary to ensure a
reasonable certainty of no harm to
children, pregnant women, or other
susceptible individuals with an
adequate margin of safety. Id. at 78334–
78336.
In addition, the Commission
determined that DIBP, DPENP, DHEXP,
and DCHP are associated with adverse
effects on male reproductive
development and contribute to the
cumulative risk from antiandrogenic
phthalates. The Commission agreed
with the CHAP’s recommendation and
proposed to prohibit children’s toys and
child care articles containing
concentrations of more than 0.1 percent
of DIBP, DPENP, DHEXP, and DCHP. 79
FR at 78326–38. The Commission
proposed that the rule would take effect
180 days after publication of a final rule
in the Federal Register. Id. at 78339.
C. Additional NHANES Analysis
As explained further in section III.C.2
of this preamble, the CHAP based its
analysis, in part, on human
biomonitoring data from the Centers for
Disease Control and Prevention’s (CDC)
National Health and Nutrition
Examination Survey (NHANES). The
CHAP analyzed data from NHANES’
2005/2006 data cycle. That data set had
a larger number of pregnant women
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than is usual for NHANES data sets.
Since publication of the NPR, CPSC staff
has reviewed and analyzed the
NHANES data cycles released by the
CDC after the 2005/2006 data cycle.
CPSC staff issued a report in June 2015
concerning the NHANES data sets that
had been released up to that point:
‘‘Estimated Phthalate Exposure and Risk
to Pregnant Women and Women of
Reproductive Age as Assessed Using
Four NHANES Biomonitoring Data Sets
(2005/2006, 2007/2008, 2009/2010,
2011/2012).’’ See https://www.cpsc.gov/
s3fs-public/NHANES-Biomonitoringanalysis-for-Commission.pdf . The June
2015 staff analysis reviewed the 2005/
2006 NHANES data set to replicate the
CHAP’s methodology and reviewed the
subsequent NHANES data sets through
2011/2012. Staff’s analysis used women
of reproductive age (WORA; 15–45 year
of age) as the population of interest,
because NHANES data sets after 2005/
2006 did not have sufficient numbers of
pregnant women to be statistically
relevant. The Commission published a
notice of availability in the Federal
Register seeking comment on the CPSC
staff document. 80 FR 35939 (June 23,
2015).
In December 2016, the CDC released
the NHANES 2013/14 data cycle. CPSC
staff prepared a document with staff’s
analysis of the NHANES 2013/14 data
cycle titled, ‘‘Estimated Phthalate
Exposure and Risk to Women of
Reproductive Age as Assessed Using
2013/2014 NHANES Biomonitoring
Data.’’ See https://www.cpsc.gov/s3fspublic/Estimated%20Phthalate
%20Exposure%20and%20Risk
%20to%20Women
%20of%20Reproductive
%20Age%20as%20Assessed%20Using
%202013%202014%20NHANES
%20Biomonitoring%20Data.pdf. The
Commission published a notice of
availability in the Federal Register
seeking comments on CPSC staff’s
February 2017 analysis of the NHANES
2013/14 data cycle. 82 FR 11348
(February 22, 2017).
D. Public Comments
The NPR, which published in the
Federal Register on December 30, 2014,
requested comments by March 16, 2015.
79 FR 78324 (Dec. 30, 2014). The
Commission extended the comment
period for an additional 30 days to April
15, 2015. 80 FR 14880 (March 20, 2015).
Additionally, the Commission requested
comments on each of the staff’s analyses
of more recent NHANES data. 80 FR
35939 (June 23, 2015); 82 FR 11348
(February 22, 2017). The Commission
received 91 comments on the NPR and
an additional 18 comments on CPSC
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staff’s reports on more recent NHANES
data cycles. The comments are available
on regulations.gov under the docket:
CPSC–2014–0033. Throughout this
preamble, we discuss significant issues
raised by these comments and CPSC’s
responses to those issues. As part of the
briefing package that CPSC staff
prepared for the Commission’s
consideration of this final rule, staff
developed a more detailed summary of
the public comments and staff’s
responses. These may be found at Tab
B of the staff’s briefing package: https://
www.cpsc.gov/s3fs-public/
Final%20Rule%20-%20Phthalates%20%20September%2013%202017.pdf At
the end of each comment summary in
this preamble, we provide, in
parentheses, the number of the relevant
and more detailed comment/response in
Tab B of the staff’s briefing package.
E. Final Rule
The Commission has considered the
CHAP report, CPSC staff’s analyses, and
comments submitted on the NPR and
staff’s reports concerning later NHANES
data cycles. CPSC staff prepared a
briefing package for the Commission
that provides staff’s analysis of these
materials and gives staff’s
recommendations for the final rule.
Staff’s briefing package is available at:
https://www.cpsc.gov/s3fs-public/
Final%20Rule%20-%20Phthalates%20%20September%2013%202017.pdf
Based on consideration of these
materials, the Commission issues this
final rule, which is substantially the
same as the proposed rule.
In the interest of clarity, the final rule
restates the CPSIA’s permanent
prohibition on the manufacture for sale,
offer for sale, distribution in commerce,
or importation into the United States of
any children’s toys and child care
articles that contain concentrations of
more than 0.1 percent of DEHP, DIBP,
or BBP.
The final rule continues the interim
prohibition concerning DINP and
expands that restriction to prohibit all
children’s toys (not just those that can
be place in a child’s mouth) and child
care articles that contain concentrations
of more than 0.1 percent of DINP. After
reviewing the information presented by
the CHAP, CPSC staff, and commenters,
the Commission concludes that
continuing the interim prohibition
regarding DINP will ensure a reasonable
certainty of no harm to children,
pregnant women, or other susceptible
individuals with an adequate margin of
safety. The Commission also determines
that expanding the prohibition
regarding DINP to cover all children’s
toys, not just those that can be placed
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in a child’s mouth, is necessary to
protect the health of children.
The final rule also prohibits
children’s toys and child care articles
that contain concentrations of more than
0.1 percent of DIBP, DPENP, DHEXP,
and DCHP. After reviewing the
information presented by the CHAP,
CPSC staff, and commenters, the
Commission concludes that this
restriction on the four additional
phthalates is necessary to protect the
health of children.
The final rule adds a paragraph, not
in the proposed rule, that repeats the
statutory provision stating that the
phthalates prohibitions apply to
plasticized component parts of
children’s toys and child care articles,
or other component parts of those
products that are made of materials that
may contain phthalates. See 15 U.S.C.
2057c(c). This addition does not make
any substantive change, but it provides
clarity by placing this statutory language
in the regulation.
As was proposed, the final rule will
take effect 180 days after publication in
the Federal Register and will apply to
products manufactured or imported on
or after that date. The Commission’s
rationale for the final rule is explained
in the following sections of this
preamble.
II. Legal Authority
A. Summary of Legal Authority
Section 108 of the CPSIA provides the
legal authority for this rule. As directed
by section 108(b)(2), the Commission
convened a CHAP to study the effects
on children’s health of phthalates and
phthalate alternatives. The CPSIA
directs the CHAP to examine ‘‘the full
range of phthalates that are used in
products for children,’’ and to consider
numerous issues specified in the statute
(discussed further in section III.A of this
preamble). As required by section
108(b)(2)(C), the CHAP prepared a
report for the Commission that included
recommendations to the Commission
concerning any phthalates not already
subject to the permanent prohibition or
phthalate alternatives that should be
prohibited. 15 U.S.C. 2057c(b)(2)(C).
The CPSIA further directs that, within
180 days of receiving the CHAP’s report,
the Commission shall promulgate a final
rule in accordance with section 553 of
the APA. The Commission must
‘‘determine, based on such report,
whether to continue in effect the
[interim] prohibition . . ., in order to
ensure a reasonable certainty of no harm
to children, pregnant women, or other
susceptible individuals with an
adequate margin of safety.’’ Id.
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2057c(b)(3)(A). Additionally, the
Commission must ‘‘evaluate the
findings and recommendations of the
Chronic Hazard Advisory Panel and
declare any children’s product
containing any phthalates to be a
banned hazardous product under
section 8 of the Consumer Product
Safety Act (15 U.S.C. 2057), as the
Commission determines necessary to
protect the health of children.’’ Id.
2057c(b)(3)(B).
A violation of the permanent or
interim prohibitions or any rule the
Commission subsequently issues under
section 108(b)(3) ‘‘shall be treated as a
violation of section 19(a)(1) of the
Consumer Product Safety Act.’’ Id.
2057c(e). Additionally, section 108(f),
concerning preemption, states that the
permanent and interim prohibitions and
the Commission’s phthalates rule ‘‘shall
be considered consumer product safety
standards under the Consumer Product
Safety Act.’’ Id. 2057c(f).
Section 108 of the CPSIA sets out the
criteria for the Commission’s
determinations in this rulemaking.
Regarding phthalates subject to the
interim prohibition, the Commission is
to determine, based on the CHAP report,
whether their continued regulation is
needed ‘‘to ensure a reasonable certainty
of no harm . . . with an adequate
margin of safety.’’ Regarding other
children’s products and other
phthalates, the Commission is to
evaluate the CHAP report and determine
whether additional restrictions are
‘‘necessary to protect the health of
children.’’ 15 U.S.C. 2057c(b)(3).
Congress required the Commission to
use these criteria for the phthalates
rulemaking.
B. Comments Regarding Legal Authority
Comments raised various issues
concerning the Commission’s legal
authority for this rulemaking. These
comments focused primarily on: The
CPSIA’s requirements for the CHAP, the
CPSIA’s requirements for the
rulemaking, relevance of (and
compliance with) the Information
Quality Act (IQA), and compliance with
requirements of the Administrative
Procedure Act (APA). This section
summarizes and responds to key issues
raised by comments related to the
Commission’s legal authority. Tab B of
staff’s briefing package provides a more
detailed discussion of the comments
and responses. https://www.cpsc.gov/
s3fs-public/Final%20Rule%20%20Phthalates%20-%20September
%2013%202017.pdf?nArsRDzq81e90
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1. The Information Quality Act
Comment: IQA Applicability: Several
commenters asserted that the CHAP
report and the phthalates rulemaking
must comply with the Office of
Management and Budget’s (OMB’s)
Guidelines issued under the IQA and
CPSC’s guidelines. The commenters
stated that the OMB’s IQA Guidelines
require that agencies’ disseminations
meet a basic standard of quality for
objectivity, utility and integrity, and
that these requirements apply to the
CHAP report and to CPSC’s rulemaking.
The commenters also asserted that the
CHAP report is ‘‘influential’’ under the
IQA Guidelines because it meets the
OMB standard for influential, i.e., has
‘‘a clear and substantial impact on
important public policies or private
sector decisions.’’
Response: The IQA, Public Law 106–
554, required OMB to draft guidelines
regarding ‘‘the quality, objectivity,
utility, and integrity of information . . .
disseminated by Federal agencies’’ and
required each agency to issue its own
guidelines. OMB issued ‘‘Guidelines for
Ensuring and Maximizing the Quality,
Objectivity, Utility, and Integration of
Information Disseminated by Federal
Agencies’’ (OMB Guidelines), 67 FR
8452. The CPSC issued its Information
Quality Guidelines (CPSC Guidelines)
in October 2002, which substantially
follow OMB’s Guidelines.2 As provided
in CPSC’s Guidelines, we are
responding to comments on the NPR to
address a commenter’s request for
correction under the IQA.
OMB’s Guidelines apply to federal
agencies that are subject to the
Paperwork Reduction Act (PRA), 42
U.S.C. chapter 35. 67 FR 8453. This
includes the CPSC. Both OMB’s and
CPSC’s Guidelines apply to information
that the agency ‘‘disseminates.’’ OMB’s
Guidelines define the term
‘‘dissemination’’ to mean ‘‘agency
initiated or sponsored distribution of
information to the public,’’ with several
exclusions. Under OMB’s Guidelines, if
an agency releases information prepared
by an outside party, but the agency then
distributes the information ‘‘in a manner
that reasonably suggests that the agency
agrees with the information, this
appearance of having the information
represent agency views makes agency
dissemination of the information subject
to the guidelines.’’ 67 FR 8454. As the
commenters noted, the CHAP report
was not prepared by CPSC but by a third
party. However, in the NPR, CPSC based
its recommendations on the CHAP
2 CPSC Information Quality Guidelines. Available
at: https://www.cpsc.gov/en/Research--Statistics/
Information-Quality-Guidelines/.
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report as required by section 108 of the
CPSIA. Thus, we agree that OMB’s and
CPSC’s Guidelines apply to the CHAP
report.
As discussed in the following
comments/responses, OMB’s Guidelines
require agencies to adopt a basic
standard of information quality that
includes ‘‘objectivity, utility, and
integrity.’’
OMB’s Guidelines define
‘‘influential’’ as:
‘‘Influential’’, when used in the phrase
‘‘influential scientific, financial, or statistical
information’’, means that the agency can
reasonably determine that dissemination of
the information will have or does have a
clear and substantial impact on important
public policies or important private sector
decisions. Each agency is authorized to
define ‘‘influential’’ in ways appropriate for
it given the nature and multiplicity of issues
for which the agency is responsible.
67 FR 8460. The definition of
‘‘influential’’ places significant
emphasis on the agency’s discretion to
determine what information is
influential. The OMB Guidelines state
that influential information is held to a
higher standard and must have a high
degree of transparency. Even if the
CHAP report is considered
‘‘influential,’’ it met the OMB
Guidelines’ provisions for such
documents. As explained throughout
this document, the CHAP was
transparent about its data sources and
processes. See the following comments
and responses. (Comments 8.1 and 8.2).
Comment: Objectivity of CHAP report.
Commenters asserted that the CHAP
Report (and by extension, the
rulemaking) does not meet the IQA
Guidelines’ standard of ‘‘objectivity.’’ In
addition, the commenters argued that,
because the CHAP Report is influential
information regarding risks to health,
safety, or the environment, it ‘‘must be
based on requirements drawn from the
Safe Drinking Water Act (SDWA), to use
‘the best available, peer-reviewed
science and supporting studies
conducted in accordance with sound
and objective scientific practices; and
. . . data collected by accepted methods
or best available methods . . . .’ ’’
(Comment 8.3).
Response: The OMB Guidelines state:
‘‘ ‘Objectivity’ includes whether
disseminated information is being
presented in an accurate, clear,
complete, and unbiased manner.’’ 67 FR
8459. According to the OMB Guidelines,
this involves presenting the information
within a proper context and identifying
the sources of the information. Id. The
OMB Guidelines further state: ‘‘In
addition, ‘objectivity’ involves a focus
on ensuring accurate, reliable, and
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49941
unbiased information.’’ In a scientific
context, this means ‘‘using sound
statistical and research methods.’’ Id.
The CHAP report met the
‘‘objectivity’’ standard enunciated in the
OMB Guidelines. The fact that the
commenters might have conducted the
analysis differently does not mean that
the CHAP’s analysis was not
‘‘objective.’’ The CHAP report clearly set
forth its data sources and noted that to
assess studies, it used the criteria of
reliability, relevance, and adequacy
established by the Organisation for
Economic Cooperation and
Development. CHAP report at pp. 13–
14. The CHAP held open meetings
during the process of developing its
analysis, inviting experts to present
their latest research findings and taking
submissions of a large volume of written
material. The CHAP members were
selected in accordance with section 28
of the CPSA through a process to ensure
their independence from bias (e.g.,
nominated by National Academy of
Sciences; free from compensation by or
substantial financial interest in a
manufacturer, distributor or retailer of a
consumer product; not employed by the
federal government, with certain
scientific/research related exceptions).
The CHAP explained its choices, such
as the decision to focus on the effects on
male reproductive development, and the
CHAP noted that this approach was
consistent with a National Research
Council (NRC) report.3 Similarly, the
CHAP explained its decision to conduct
a cumulative risk assessment and
explained the methodology that it used
which, again, was consistent with one of
the methods discussed in the NRC
report.
For an analysis of risks to human
health, safety, and the environment that
an agency disseminates, OMB’s
Guidelines direct agencies to ‘‘adapt or
adopt’’ the information quality
principles of the SDWA. 67 FR 8460.
The SDWA directs agencies to use: ‘‘ (i)
The best available, peer-reviewed
science and supporting studies
conducted in accordance with sound
and objective scientific practices; and
(ii) data collected by accepted methods
or best available methods (if the
reliability of the method and the nature
of the decision justifies use of the
data).’’ Id. at 8457. The SDWA direction
is very similar to the charge to the
CHAP in section 108, which states,
among other things, that the CHAP is to
‘‘review all relevant data, including the
most recent best available, peer
reviewed, scientific studies of these
phthalates and phthalate alternatives
3 NRC
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that employ objective data collection
practices or employ other objective
methods.’’ 15 U.S.C. 2057c(b)(2)(B)(v).
As our discussion in section III of this
preamble demonstrates, the CHAP
report met this direction.
Comment: IQA deficiencies as basis to
invalidate rule. A commenter asserted
that the CHAP report had numerous
methodological flaws that violated the
IQA and that these deficiencies would
invalidate the phthalates rulemaking
unless they are corrected because the
proposed rule was premised almost
entirely on the CHAP report. The
commenter further asserted that OMB’s
IQA Guidelines are ‘‘binding’’ on
agencies. (Comment 8.4).
Response: Elsewhere in this
document and in Tab B of staff’s
briefing package, staff responds to the
specific methodological ‘‘flaws’’ the
commenter identifies. Regarding the
legal point, we note that OMB’s
Guidelines are not legally enforceable
requirements—guidelines, which are
essentially interpretive rules, by their
nature do not establish binding
requirements. See, e.g., U.S. Iowa
League of Cities v. EPA, 711 F.3d 844,
873 (8th Cir., 2013) (‘‘interpretive rules
do not have the force of law’’). Notably,
the IQA directed OMB to ‘‘issue
guidelines . . . that provide policy and
procedural guidance to Federal
agencies.’’ The IQA did not direct OMB
or agencies to undertake substantive
legislative rulemaking. Consolidated
Appropriations Act of 2001, Public Law
06–554, 515 (codified at 44 U.S.C. 3516
Note). OMB’s Guidelines repeatedly
stress their flexibility, noting that they
are not intended to be ‘‘prescriptive,
‘one-size-fits-all’ ’’ and that OMB
intends for agencies to ‘‘apply them in
a common-sense and workable
manner.’’ 67 FR at 8452–53. The IQA
established a binding requirement that
OMB issue guidelines and that each
agency that is subject to the PRA must
issue its own guidelines, but the
guidelines themselves do not bind
agencies. Courts that have examined the
question of the legal status of the IQA
have found that the IQA (and thus
necessarily, OMB’s guidelines) ‘‘creates
no legal rights in any third parties.’’ Salt
Inst. v. Leavitt, 440 F.3d 156, 159 (4th
Cir. 2006). See Mississippi Comm. on
Environmental Quality v. EPA, 790 F.3d
138 (D.C. Cir. 2015) (dismissing
argument that IQA created a legal
requirement for EPA to use ‘‘best
available science and supporting
studies’’).
2. CPSIA Requirements for the CHAP
Comment: Review of all relevant data.
Several commenters noted that the
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CPSIA directed the CHAP to ‘‘review all
relevant data, including the most recent,
best available . . . scientific studies
. . . that employ objective data
collection practices.’’ A commenter
asserted that the CHAP’s ‘‘selective use
and systematic mischaracterization of
the data’’ did not meet this requirement.
Commenters argued that the CHAP’s
reliance on the 2005/2006 NHANES
data set, rather than later data sets that
were available to the CHAP before the
CHAP’s stopping point (2007/2008,
2009/2010 and 2011/2012 data sets),
violated the CPSIA’s direction to review
‘‘all relevant data’’ and to include ‘‘the
most recent’’ studies. The commenters
asserted that the CHAP’s failure to rely
on later data sets is particularly
important because, due to the drop in
DEHP exposures, there has been a
significant decline in total risk. One
commenter asserted that the CHAP had
ignored 32 relevant publications on
phthalates. Other commenters stated
that the CHAP’s analysis ‘‘represents the
cutting edge and most current and best
available science,’’ a significant
improvement over methodologies
currently used for government review of
chemical risk that considered one
chemical at a time. (Comments 7.8, 8.17,
and 10.2).
Response: The CHAP used 2005/2006
NHANES data on pregnant women to
assess phthalate exposure as part of the
CHAP’s cumulative risk analysis, to
satisfy the CPSIA’s charge to ‘‘examine
the likely levels of children’s, pregnant
women’s, and others’ exposure to
phthalates . . . ’’ 15 U.S.C.
2057c(b)(2)(B)(iii). This data set was the
most recent data on pregnant women
available at the time the CHAP
completed its analysis in July 2012,
CHAP report at p. 31, and it was the last
data set to include a larger sample of
pregnant women. CPSC staff
subsequently analyzed NHANES WORA
data from 2007/2008 through 2013/2014
using the CHAP’s analytical
methodology.
The CHAP considered new scientific
information published up to the end of
2012, and used standard and acceptable
methods for study review, conducting
an unbiased literature search and
publication identification and in-depth
review and reporting of the most
important publications. Specifically, the
CHAP included many elements of
systematic review methods in its work.
The CHAP used a defined literature
search strategy and limited the search to
studies published through 2012. The
CHAP considered the quality, relevance,
and weight of evidence (WOE) of
individual studies. The CHAP described
criteria for evaluating published studies,
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CHAP report at pp. 19–23, and the
CHAP ensured that all studies and data
were publicly available. The CHAP also
described the criteria used to formulate
its recommendations on individual
phthalates and phthalate alternatives.
Id. at p. 79. The CHAP criteria included
review of animal and human data,
weight of evidence, study replication,
human exposure, hazard, and risk. Id. at
pp. 82–142. The CHAP conducted a
thorough review of a large body of
literature on a complex environmental
health question using appropriate
methods.
All current scientific publications and
NHANES data sets have been analyzed
by the CHAP and CPSC staff in
preparation for the final rule. This
fulfills the CPSIA’s directive to review
‘‘all relevant data’’ and to include ‘‘the
most recent’’ studies.
Regarding the assertion that the CHAP
ignored 32 relevant publications, CPSC
staff reviewed this claim. The CHAP
cited approximately 250 articles using a
systematic approach to select the most
relevant and informative articles. Five of
the 32 articles the commenter identified
are not relevant because they considered
effects that are not relevant to the
CHAP’s focus on male reproductive
development (e.g., onset of puberty in
girls, estrogenic effects); they measured
exposure, but not health effects; or did
not accurately reflect exposure. The
other 27 articles were review articles
(which are considered secondary
sources), several of which covered broad
topics such as environmental chemicals.
Staff’s more detailed assessment of these
publications is provided in the response
to comment 7.8 at Tab B of the staff’s
briefing package.
Comment: Foreseeable use and likely
exposure. Several commenters noted
that the CPSIA required the CHAP to
‘‘examine the likely levels of children’s,
pregnant women’s, and others’ exposure
to phthalates, based on a reasonable
estimation of normal and foreseeable
use and abuse of such products.’’
Commenters asserted that the CHAP
failed to meet this requirement because
the CHAP ignored the more recent data
that shows a significant drop in DEHP
exposure and the CHAP included
permanent prohibitions involving
phthalates in the analysis. (Comment
8.18).
Response: As explained, the 2005/
2006 NHANES dataset that the CHAP
used was the most recent data on
pregnant women available at the time
the CHAP completed its analysis in July
2012, CHAP report at p. 31, and
included a larger sample of pregnant
women. CPSC staff has since analyzed
more recent NHANES data using the
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same methodology used by the CHAP
and using WORA as a surrogate for
pregnant women because an insufficient
number of pregnant women were
sampled in the later data sets. The final
rule considers the most recent NHANES
data, as well as the CHAP report.
In accordance with the CPSIA’s
direction to the CHAP, the CHAP’s
cumulative risk analysis estimated
phthalate exposure from all phthalates
and all sources, not only toys and child
care articles. Because the CPSIA
prohibition covers only children’s toys
and child care articles, exposures to
DEHP, DBP, and BBP still occur from
other sources. Thus, the CHAP and
subsequent staff analyses provide a
robust assessment of the ‘‘likely levels’’
of current exposures to phthalates.
Comment: CPSIA direction to CHAP
to conduct a cumulative risk
assessment. One commenter stated that
the CPSIA did not require the CHAP to
conduct a cumulative risk assessment;
the CHAP could have considered
cumulative effects in a more general
(qualitative) way. Other commenters
asserted that a cumulative risk
assessment was well within the CPSIA’s
direction to the CHAP, noting that the
CPSIA provided a clear mandate to
‘‘review the toxicity of phthalates
cumulatively’’ and to consider ‘‘the
exposure to all sources of these
chemicals.’’ One comment from a group
of commenters stated Congress
specifically required the cumulative risk
analysis. (Comment 8.19).
Response: Several provisions in
section 108(b)(2) called on the CHAP to
consider cumulative effects of
phthalates. Specifically, the statute
directed the CHAP to:
• ‘‘Study the effects on children’s
health of all phthalates and phthalate
alternatives as used in children’s toys
and child care articles’’;
• ‘‘consider the potential health
effects of each of these phthalates both
in isolation and in combination with
other phthalates’’; and
• ‘‘consider the cumulative effects of
total exposure to phthalates, both from
children’s products and from other
sources, such as personal care
products.’’
Thus, the CPSIA required the CHAP to
use some method to evaluate the health
effects of multiple phthalates from
multiple products. The statute did not
specify that the only way to do this was
through a cumulative risk assessment.
However, nothing in the statute
prohibited the CHAP from conducting a
cumulative risk assessment. As
explained in the CHAP report, and in
the NPR, based on the CHAP’s
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knowledge and expertise, the CHAP
decided that a cumulative risk
assessment was the most appropriate
method to fulfill the direction given to
the CHAP. Furthermore, the CHAP used
a cumulative risk assessment approach
that was consistent with
recommendations from a National
Academy of Sciences committee that
was convened specifically to consider
methods for assessing the cumulative
risks from phthalates. Thus, the CHAP
used its judgment and provided an
explanation for its reasonable choice.
Comment: Applicability of the
Federal Hazardous Substances Act. A
commenter argued that the CPSIA
required the CHAP to present its
analysis in terms of the criteria stated in
the FHSA, and the commenter asserted
that the CHAP failed to do so. Similarly,
a commenter asserted that the CHAP’s
risk assessment improperly included
consideration of exposures to
substances that are excluded from the
FHSA’s definition of ‘‘hazardous
substance,’’ such as foods and drugs. 15
U.S.C. 1261(f)(2). (Comments 8.27
through 8.29).
Response: The commenter bases its
argument that the CHAP should have
followed FHSA criteria on a phrase in
CPSIA section 108 that also appears in
the FHSA. However, neither section 108
nor the legislative history of that
provision mentions the FHSA. Rather,
section 108(b)(2)(B) provides detailed
direction to the CHAP about the criteria
that the CHAP is to consider in its
examination. Moreover, section 108(f)
states clearly that the statutory
prohibitions and the Commission’s
future phthalates rule ‘‘shall be
considered consumer product safety
standards under the Consumer Product
Safety Act.’’ It is not logical that
Congress would expect the CHAP to
apply FHSA criteria (without
mentioning that statute) to provide a
report to the Commission for a rule that
is to be treated as a rule under the
CPSA. In fact, section 108 established a
unique procedure for phthalates,
making it clear that Congress did not
intend for the Commission to undertake
rulemaking under the FHSA. The CHAP
and the Commission followed the
specific process and criteria set forth in
section 108. The direction to the CHAP
explicitly requires the CHAP to consider
phthalates that are in products outside
the CPSC’s jurisdiction, directing the
CHAP to consider effects ‘‘both from
children’s products and from other
sources, such as personal care
products.’’ 15 U.S.C. 2057c(b)(2)(B)(iv).
Many personal care products are
considered cosmetics and are under the
jurisdiction of the U.S. Food and Drug
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Administration (FDA). Congress thus
intended for the CHAP’s examination to
be broader than just products under
CPSC’s authority, even though CPSC’s
rulemaking applies only to products
under CPSC’s jurisdiction.
3. CPSIA’s Requirements for the
Rulemaking
Comment: Commission’s role
regarding the CHAP report. Comments
questioned the Commission’s reliance
on the CHAP report in the NPR.
Commenters asserted that the
Commission cannot merely codify or
‘‘rigidly adhere’’ to the CHAP report
without applying the Commission’s own
judgment. To do so, they argued, would
raise serious Constitutional questions by
vesting government powers in a private
entity and would also conflict with the
CPSIA and sections 28 and 31 of the
CPSA (e.g., the word ‘‘advisory’’ in the
CHAP). Another commenter stated that
CPSC acted appropriately on the CHAP
report, noting that ‘‘CPSC made its own
decision, issued its own proposed rule,
and solicited public comment from
industry and others on its proposed
rule.’’ (Comment 8.20).
Response: Section 108(b)(3) of the
CPSIA requires that the Commission’s
rule concerning the interim prohibition
be ‘‘based on’’ the CHAP report and
requires the Commission to evaluate the
findings and recommendations of the
CHAP to determine whether to prohibit
any other children’s products
containing any other phthalates. We
agree that the statutory language does
not require rigid adherence to the CHAP
report and that the Commission cannot
simply ‘‘rubber-stamp’’ the CHAP’s
recommendations. Rather, the CHAP
report is advisory, and the Commission
must use its judgment to decide on
appropriate regulatory action in
accordance with the specific criteria
stated in section 108(b)(3)(A) and (B)
and must consider public comments
that the Commission received. This is
exactly the process the Commission
followed. The NPR summarized the
CHAP report, including the CHAP’s
recommendations. 79 FR 78326–78330.
The NPR presented CPSC staff’s
evaluation of the CHAP report and the
Commission’s assessment of the CHAP’s
recommendations. Id. 78330–78338.
Additionally, CPSC staff reviewed more
recent NHANES data and conducted an
analysis of the CHAP’s evaluation of
exposure data. Staff reviewed and
considered the comments submitted in
response to the NPR and the NHANES
data analysis to develop
recommendations to the Commission.
All of this information provides the
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basis for the Commission’s decision on
the final rule.
Comment: Meaning of ‘‘reasonable
certainty of no harm.’’ Several
commenters addressed the meaning of
the phrase ‘‘reasonable certainty of no
harm.’’ Some commenters asserted that
the standard must be interpreted in the
context of CPSC’s other statutes and
case law. In this view, the phrase
essentially means ‘‘reasonably necessary
to prevent or reduce an unreasonable
risk of injury,’’ as would be required for
a consumer product safety rule the
Commission issues under sections 7, 8
and 9 of the CPSA. Commenters also
discussed the level of certainty required
for a ‘‘reasonable certainty of no harm.’’
One commenter noted that the FDA uses
a similar standard for food additives.
One commenter stated that in the NPR,
the CPSC has applied the standard
essentially to require absolute certainty.
In contrast, another commenter
emphasized that the CPSIA calls for
ensuring a ‘‘‘reasonable certainty of no
harm’ (emphasis added).’’ (Comments
8.14, 8.22, 8.23, and 8.25).
Response: The requirements stated in
section 108(b)(3) of the CPSIA, rather
than sections 7, 8 and 9 of the CPSA,
apply to this rulemaking. For the
Commission to issue a consumer
product safety rule under sections 7, 8
and 9 of the CPSA, the Commission
must determine that the product
presents an unreasonable risk of injury
and that a rule is necessary to reduce or
prevent the unreasonable risk. The term
‘‘unreasonable risk’’ does not appear
anywhere in the criteria stated in
section 108(b)(3) that the Commission is
to use to determine appropriate
phthalate regulations. Nothing in the
legislative history of section 108
indicates that Congress intended the
Commission to make ‘‘unreasonable
risk’’ determinations. Nor is there any
indication that Congress intended that
the case law related to the Commission’s
rules issued under sections 7, 8 and 9
of the CPSA would apply to the
phthalates rulemaking.
We are aware of two other statutory
schemes that use somewhat similar
language. The Food Quality Protection
Act (FPQA) uses a similar phrase
regarding tolerance levels for pesticide
residue on food. That provision requires
the U.S. Environmental Protection
Agency (EPA) to ‘‘ensure that there is a
reasonable certainty that no harm will
result to infants and children from
aggregate exposure to the pesticide
chemical residue.’’ 21 U.S.C.
346a(b)(2)(A)(ii)(I). Under the Federal
Food, Drug, and Cosmetic Act (FDCA),
food additives must be ‘‘safe.’’ 21 U.S.C.
348. FDA has issued regulations that
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define ‘‘safe or safety’’ to mean ‘‘that
there is a reasonable certainty in the
minds of competent scientists that the
substance is not harmful under the
intended conditions or use.’’ In a very
general sense, CPSC’s approach on
phthalates is consistent with FDA and
EPA in that CPSC’s evaluation is based
on expert scientific opinion (the CHAP),
takes into account the cumulative effect
of the substance at issue (phthalates),
and provides appropriate safety factors
(e.g., for inter- and intra-species
uncertainties). However, because the
pesticide tolerance and food additive
schemes differ significantly from the
CPSIA’s phthalates provision, FDA’s
and EPA’s approaches do not provide
CPSC with more specific guidance on
‘‘reasonable certainty of no harm.’’
Regarding the level of certainty
required, the language ‘‘ensure a
reasonable certainty of no harm . . .
with an adequate margin of safety’’ calls
for a highly protective standard, but not
100 percent certainty of no harm.
Congress required ‘‘a reasonable
certainty of no harm,’’ not an absolute
certainty of no harm.
4. The APA’s Requirements
Comment: Data and the CPSC’s
obligation under the APA. Some
commenters argued that the
Commission’s reliance on certain data
violated the APA. One commenter
asserted that the NPR’s reliance on
‘‘decade-old data’’ is not reasonable, and
therefore, violates the APA. Some
commenters stated that because the NPR
‘‘rests on outdated data,’’ CPSC should
withdraw the NPR, conduct a reanalysis
with current exposure data, and repropose the rule with a new comment
period. In comments on CPSC staff’s
analysis of recent NHANES data, a
commenter asserted that under the APA,
‘‘the Commission has an obligation to
disregard the CHAP’s report to the
extent it is incorrect, unreasonable,
inconsistent with existing CPSC policy,
practice, regulations or governing
statutes, or is based on data that is
outdated or of poor quality.’’ The
commenter set out the minimum
requirements of informal rulemaking:
Adequate notice, sufficient opportunity
for public to comment, and a final rule
that is not arbitrary and capricious.
(Comments 8.12 and 8.13).
Response: The NPR’s reliance on the
CHAP report and the data the CHAP
used did not violate the APA. Rather,
the Commission followed the CPSIA’s
direction to base the rulemaking on the
CHAP report. As commenters requested,
staff subsequently considered updated
exposure data. As the CPSIA requires,
the Commission’s proposal regarding
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the interim prohibition was ‘‘based on
the CHAP report,’’ and in addition, the
Commission evaluated the CHAP report
to determine whether to prohibit any
children’s products containing any
other phthalates. Additionally, as
required by the CPSIA, the Commission
followed the notice and comment
procedures of the APA. For the final
rule staff considered more recent
exposure data than the CHAP used.
Several commenters asked the
Commission to do this additional work.
Staff conducted two analyses of more
recent NHANES biomonitoring data
sets, posted reports of staff analyses on
the CPSC Web site, and the Commission
requested public comment on each
analysis. 80 FR 35938 (June 23, 2015)
and 82 FR 11348 (February 22, 2017).
We agree that under section 553 of the
APA, the Commission must evaluate the
CHAP report along with comments
submitted in response to the proposed
rule and engage in reasoned decision
making to issue a final rule. This is the
approach the agency has taken. The
Commission provided adequate notice
in the NPR (describing the CHAP report,
providing staff’s evaluation of the CHAP
report and explanation of, and reasons
for, the proposed rule); provided
sufficient opportunity for the public to
comment (even extending the comment
period and obtaining comment on the
two staff reanalysis documents); and the
Commission explains its reasoning for
the final rule in this preamble and
supporting documents.
Comment: Restriction involving DINP
and compliance with APA: A
commenter asserted that continuing the
interim prohibition involving DINP is
arbitrary and capricious (in violation of
the APA) because:
• There is a reasonable certainty of no
harm without such a prohibition (due to
permanent prohibition involving
DEHP);
• DINP contributes only a small
fraction to overall risk;
• the endpoint of antiandrogenicity is
likely inappropriate;
• it is questionable that DINP should
be included in a cumulative risk
assessment;
• it is questionable that a cumulative
risk assessment provides a reasonable
basis for a regulatory decision;
• DEHP levels have dropped so that
the Hazard Index (HI) is now well below
one; and
• even using the 2005/2006 NHANES
data, the contribution of DINP to the
overall HI is minimal and the major
source of exposures is diet—children’s
products account for only a small
fraction of overall HI.
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In contrast, another commenter stated
that the CHAP’s recommendation and
the Commission’s proposal to
permanently prohibit children’s toys
and child care articles containing more
than 0.1 percent of DINP are justified.
The commenter stated that data
indicating that DINP is a potential
health risk have gotten stronger since
release of the CHAP report. (Comment
8.16).
Response: In general, the APA
requires that agencies’ rulemaking be
based on reasoned decision making.
Staff’s briefing package explains the
reasons for staff’s recommendations,
satisfying this threshold requirement.
The specific issues the commenter
raised about regulation of DINP and the
apparent reductions over time in
exposure to DEHP are addressed in
detail in section IV.D.1.a. of this
preamble.
III. The CHAP
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A. CPSIA Direction
The CPSIA directed the Commission
to convene a CHAP ‘‘to study the effects
on children’s health of all phthalates
and phthalate alternatives as used in
children’s toys and child care articles.’’
15 U.S.C. 2057c (b)(2). The statute
provides very specific direction to the
CHAP regarding its work. The CHAP
must:
Complete an examination of the full
range of phthalates that are used in
products for children and shall—
• examine all of the potential health
effects (including endocrine disrupting
effects) of the full range of phthalates;
• consider the potential health effects
of each of these phthalates both in
isolation and in combination with other
phthalates;
• examine the likely levels of
children’s, pregnant women’s, and
others’ exposure to phthalates, based on
a reasonable estimation of normal and
foreseeable use and abuse of such
products;
• consider the cumulative effect of
total exposure to phthalates, both from
children’s products and from other
sources, such as personal care products;
• review all relevant data, including
the most recent, best-available, peerreviewed, scientific studies of these
phthalates and phthalate alternatives
that employ objective data collection
practices or employ other objective
methods;
• consider the health effects of
phthalates not only from ingestion but
also as a result of dermal, hand-tomouth, or other exposure;
• consider the level at which there is
a reasonable certainty of no harm to
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children, pregnant women, or other
susceptible individuals and their
offspring, considering the best available
science, and using sufficient safety
factors to account for uncertainties
regarding exposure and susceptibility of
children, pregnant women, and other
potentially susceptible individuals; and
• consider possible similar health
effects of phthalate alternatives used in
children’s toys and child care articles.
Id. 2057c(b)(2)(B). In its final report, the
CHAP is required to recommend to the
Commission whether any ‘‘phthalates
(or combinations of phthalates)’’ in
addition to those permanently
prohibited, including the phthalates
covered by the interim prohibition or
phthalate alternatives, should be
declared banned hazardous substances.
Id. 2057c(b)(2)(C).
B. The CHAP’s Process
The CHAP’s process was open and
transparent. The CHAP met in public
session (and webcast) seven times and
met via teleconference (also open to the
public) six times.4 A record of the
CHAP’s public meetings, including
video recordings and information
submitted to the CHAP, as well as the
final CHAP report, are available on the
CPSC Web site.5
At a meeting on July 26–28, 2010, the
CHAP heard testimony from the public,
including testimony from federal agency
representatives, who discussed federal
activities on phthalates. The CHAP also
invited experts to present their latest
research findings at the meeting in July
2010 and during subsequent meetings.
Members of the public who presented
testimony to the CHAP at the July 2010
meeting included manufacturers of
phthalates and phthalate substitutes, as
well as representatives of nongovernmental organizations. In addition
to oral testimony, the manufacturers and
other interested parties submitted an
extensive volume of toxicity and other
information to the CHAP and the CPSC
staff. All submissions given to CPSC
staff were provided to the CHAP.
Although the CPSIA did not require
peer review of the CHAP’s work, at the
CHAP’s request, four independent
scientists peer reviewed the draft CHAP
report. CPSC staff applied the same
criteria for selecting the peer reviewers
as is required for the CHAP members.6
4 The CHAP met in one closed meeting as part of
the peer review process, January 28–29, 2015.
5 https://www.cpsc.gov/chap.
6 Peer reviewers were nominated by the National
Academy of Sciences. Peer reviewers did not
receive compensation from, nor did they have a
substantial financial interest in, any of the
manufacturers of the products under consideration.
In addition, the peer reviewers were not employed
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The CHAP report was due to the
Commission on April 8, 2012. The
CHAP submitted the final report to the
Commission on July 18, 2014.
C. The CHAP Report
1. Health Effects
The CHAP reviewed all of the
potential health effects of phthalates.
The CHAP explained that, although
phthalates cause a wide range of
toxicities, the CHAP focused on male
reproductive developmental effects
(MRDE) in part because this is the most
sensitive and extensively studied
endpoint for phthalates. The CHAP
noted that this focus was consistent
with a 2008 report from the National
Research Council.7 The CHAP
systematically reviewed literature on
phthalate developmental and
reproductive toxicology. CHAP report,
at pp. 1–2 and 12–13. The CHAP found
that ‘‘[s]tudies conducted over the past
20 years have shown that phthalates
produce a syndrome of abnormalities in
male offspring when administered to
pregnant rats during the later stages of
pregnancy.’’ Id. at p. 15. The CHAP
explained its approach to selection of
data so that its analysis would be based
on the most appropriate and reliable
toxicological data. Id. at pp. 19–22. The
CHAP stated that this collection of
interrelated abnormalities, known as the
‘‘rat phthalate syndrome,’’ is
characterized by various effects on the
male reproductive system:
Malformations of the testes, prostate,
and penis (hypospadias); undescended
testes; reduced anogenital distance
(AGD), and retention of nipples.8 Male
pups also have reduced fertility as
adults. The CHAP noted that only
certain phthalates produce these
abnormalities, phthalates with certain
structural characteristics (three to seven,
or eight, carbon atoms in the backbone
of the alkyl side chain). The CHAP
referred to these phthalates as ‘‘active’’
or ‘‘antiandrogenic’’ phthalates. Id. at
pp. 15–16.
The CHAP noted that, although there
is a great deal of information on
by the federal government, except the National
Institutes of Health, the National Toxicology
Program, or the National Center for Toxicological
Research.
7 NRC recommended, for example, that it is
appropriate to perform a phthalate cumulative risk
assessment for MRDE (phthalate syndrome); the
cumulative risk assessment should consider all
endpoints associated with MRDE or, alternatively,
one sensitive endpoint such as reductions in
testosterone. NRC also recommended using dose
addition, a hazard index approach, assuming that
mixture effects occur at low-doses, and including
other (non-phthalate) antiandrogens.
8 Nipple retention does not normally occur in
rodents, as it does in humans.
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phthalate syndrome in rats, there is
relatively little on the phthalate
syndrome in other animal species. The
CHAP reviewed the existing dataexposing species, such as rabbits, mice,
and marmosets, to phthalates. The
CHAP concluded that these studies with
animals other than rats show that most
animals tested are more resistant to
phthalates than rats, but due to the
limitations on these studies (e.g., small
number of animals exposed, only one
phthalate, only one dose, high
experimental variation), the CHAP
found that ‘‘studies in rats currently
offer the best available data for assessing
human risk.’’ Id. at p. 18.
The CHAP reviewed, and discussed in
its report, studies examining the
mechanism by which phthalates
produce adverse effects. The CHAP
concluded that the phthalate syndrome
effects are largely due to the
suppression of testosterone production,
as well as reduced expression of the
insulin-like hormone 3 gene. Id. at pp.
18–19.
In addition to studies on animals, the
CHAP also reviewed studies on the
effect that exposure to phthalates has on
human health (epidemiological studies).
The CHAP noted that rat phthalate
syndrome resembles testicular
dysgenesis syndrome (TDS) in humans.
TDS includes poor semen quality,
reduced fertility, testicular cancer,
undescended testes, and hypospadias.9
CHAP report at p. 2. The CHAP
concluded that studies provide human
data linking prenatal exposure to
phthalates with certain effects on male
reproductive development (such as
reduced anogenital distance,10 reduced
sperm quality and infertility in male
infants). In addition, the CHAP
discussed studies that found
associations between prenatal or
neonatal exposure to phthalates and
reductions in mental and psychomotor
development and increases in attention
deficits and behavioral symptoms in
children. Id. at pp. 27–33; Appendix C.
2. Exposure
The CHAP assessed human exposure
to phthalates by two different, but
complementary, methods: Human
biomonitoring (HBM) and exposurescenario analysis. HBM relies on
measurements of phthalate metabolites
in human urine to estimate exposure to
phthalates. Id. at pp. 34–48; Appendix
D. The CHAP used two data sources for
HBM: NHANES and the Study for
Future Families (SFF). NHANES is
9A
malformation of the penis.
between the anus and genitals, which
is greater in males than in females.
10 Distance
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conducted by the CDC, and measures
phthalates and other chemicals in
human urine and blood in a statistically
representative sample of thousands of
U.S. residents. The CHAP used data
from NHANES to estimate phthalate
exposures in pregnant women and
women of reproductive age (WORA).
Because NHANES does not measure
phthalate metabolites in children
younger than 6 years old, the CHAP
used measurements from the SFF to
obtain exposure estimates for infants.
SFF is a study of mother-child pairs,
funded by the National Institutes of
Health (NIH) and the EPA. The CHAP
used this HBM data to derive daily
intake (DI) estimates to use in its risk
assessment calculations. The CHAP
used the 2005/2006 NHANES data cycle
in its analysis. The SFF data are from
1999 to 2005. From the HBM data, the
CHAP concluded that ‘‘exposure to
phthalates in the United States (as
worldwide) is omnipresent. The U.S.
population is co-exposed to many
phthalates simultaneously.’’ Id. at p. 37.
The CHAP also noted that, because the
data indicate that sources and routes of
exposure among high- and lowmolecular weight phthalates are similar,
it is highly likely that substitution of
one phthalate will lead to increased
exposure to another similar phthalate.
Id.
The HBM data do not measure the
sources of people’s exposure to
phthalates. For this, the CHAP used a
scenario-based exposure assessment. Id.
at pp. 49–60; Appendix E. The CHAP
used estimations of phthalate
concentrations in various sources to
predict exposures to subpopulations
(pregnant women/WORA, infants,
toddlers, and children). For the
scenario-based exposure assessment, the
CHAP estimated the DINP exposure that
would occur if DINP were allowed in
children’s toys and child care articles.
The CHAP found that for most
phthalates, food, rather than children’s
toys or child care articles, is the primary
source of exposure for women and
children. The CHAP examined
exposures to various phthalates from
these sources. The CHAP found that
infants, toddlers, and children were
primarily exposed to DINP, DEHP, and
DIDP. For infants, exposure to DINP was
primarily from diet, but exposure was
also due to DINP in teethers and toys.
Id. at pp. 50–51.
3. Phthalates Risk Assessment
a. Cumulative Risk Assessment
In accordance with the CPSIA’s
direction, the CHAP considered health
effects of phthalates ‘‘in combination
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with other phthalates.’’ 15 U.S.C.
2057c(b)(2)(B)(ii). The CHAP found,
based on published studies, that active
phthalates act in an additive fashion.
That is, exposures to multiple
phthalates at lower doses act in concert
to produce the same effect as a higher
dose of a single phthalate. The CHAP
stated: ‘‘Experimental data on
combination of effects of phthalates
from multiple studies (e.g., Howdeshell
et al. (2008)) provide strong evidence
that dose addition can produce good
approximations of mixture effects when
the effects of all components are
known.’’ Id. at p. 61. The CHAP also
noted that, in addition to phthalates,
other chemicals, including certain
pesticides and preservatives, add to the
male reproductive effects of phthalates.
CHAP report at pp. 26–27. Due to the
additive effects of certain phthalates, the
CHAP determined that it is appropriate
to conduct a cumulative risk analysis to
assess the antiandrogenic phthalates the
CHAP identified. Id.
For its cumulative risk assessment,
the CHAP used a Hazard Index (HI)
approach which, the CHAP noted, is
widely used in cumulative risk
assessments of chemical mixtures. Id.
To determine the HI, one first calculates
the hazard quotient (HQ) for each
chemical and then adds the HQs
together. The ‘‘HQ’’ is generally defined
as the ratio of the potential exposure to
a substance and the level at which no
adverse effects are expected. If the HQ
is less than one, the expectation is that
no adverse effects will result from
exposure; but if the HQ is greater than
one, adverse effects are possible. Rather
than use acceptable daily intakes (ADI)
or reference doses (RfDs) as the
denominator of HQs, the CHAP used
‘‘potency estimates for
antiandrogenicity’’ (PEAAs). The PEAA
is an estimate of the level of exposure
at which the risk of antiandrogenic
effects is considered negligible. The
CHAP estimated a PEAA for each
phthalate by dividing the MRDE
‘‘antiandrogenic’’ point of departure
(POD; toxicity endpoint) by an
uncertainty factor (UF). The CHAP used
three sets of PEAAs (the CHAP refers to
these as Cases) to evaluate the impact of
assumptions in calculating the HI. Id. at
pp. 61–65.
The CHAP calculated the HI per
woman and infant, using the NHANES
data on pregnant women (representing
exposure to the fetus) and the SFF data
on children. The CHAP found that
roughly 10 percent of pregnant women
in the U.S. population have HI values
that exceed 1.0 (pregnant women had
median HIs of about 0.1 (0.09 to 0.14),
while the 95th percentile HIs were
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about 5, depending on which set of
PEAAs was used. The CHAP found that
4–5 percent of infants have HI values
that exceed 1.0 (infants had median HIs
about 0.2, while the 95th percentiles
were between 0.5 and 1.0). Id. at p. 65
and Table 2.16. Based on this
cumulative risk assessment, the CHAP
recommended that phthalates that
induce antiandrogenic effects (DINP,
DIDP, DPENP, DHEXP, and DCHP
should be permanently banned from use
in children’s toys and child care articles
at levels greater than 0.1 percent. Id. at
pp. 7–8.
Regarding the HQs for the individual
phthalates, the CHAP found that DEHP
dominated, ‘‘with high exposure levels
and one of the lowest PEAAs.’’ Id. at p.
65. HQ values were similar for three
phthalates (DBP, BBP, and DINP), while
DIBP had the smallest HQs. Id.
b. Risks in Isolation
In accordance with the CPSIA’s
direction, the CHAP also considered the
risks of phthalates in isolation. 15
U.S.C. 2057c(b)(2)(B)(ii). The CHAP
used a margin of exposure (MOE)
approach to assess the risks in isolation.
CHAP report at p. 69. The MOE is the
‘‘no observed adverse effect level’’
(NOAEL) of the most sensitive endpoint
in animal studies divided by the
estimated exposure in humans. Higher
MOEs indicate lower risks. Generally,
MOEs greater than 100 to 1,000 are
adequate to protect public health. Id.
The CHAP found that, with the
exception of DEHP, for all phthalates
that it evaluated in isolation, the MOEs
were within acceptable ranges. Id. at pp.
82–121.
4. CHAP’s Recommendations to the
Commission
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a. Phthalates Subject to the Interim
Prohibition
Diisononyl phthalate (DINP)
The CHAP recommended that the
Commission permanently prohibit the
use of DINP in children’s toys and child
care articles at levels greater than 0.1
percent. The CHAP explained that,
although DINP is less potent than other
active phthalates, it induces
antiandrogenic effects in animals, and
therefore, DINP can contribute to the
cumulative risk from other
antiandrogenic phthalates. Id. at pp. 95–
99.
The CHAP explained that studies
exposing rats to DINP during the critical
period of fetal development showed
effects on male reproductive
development. The CHAP stated: ‘‘Five
such studies have shown that DINP
exposure in rats during the perinatal
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period is associated with increased
incidence of male pups with areolae and
other malformations of androgendependent organs and testes (Gray et al.,
2000), reduced testis weights before
puberty (Matsutomi et al., 2003),
reduced AGD (Lee et al., 2006),
increased incidence of multinucleated
gonocytes, increased nipple retention,
decreased sperm mobility, decreased
male AGD, and decreased testicular
testosterone (Boberg et al., (2011)), and
reduced fetal testicular testosterone
production and decreased StAR and
Cyp11a mRNA levels (Adamson et
al.,2009; Hannas et al., 2011b).’’ Id. at
pp. 96–97.
The CHAP report discussed the
CHAP’s determination of a NOAEL for
DINP. Id. at pp. 97–98. The CHAP
stated:
Taken together, the data from Boberg et al.
(2011), Hannas et al. (2011b), and Clewell et
al. (2013a; 2013b) indicate that the
developmental NOAEL, based on
antiandrogenic endpoints (nipple retention,
fetal testosterone production, and MNGs) is
between 50 and 300 mg/kg–day. Taking a
conservative approach, the CHAP assigns the
NOAEL for DINP at 50 mg/kg–day. However,
the CHAP also wants to point out that a
simple extrapolation based upon relative
potencies (as described in Hannas et al.,
2011b) with 2.3-fold lesser potency of DINP
than DEHP (in terms of fetal testicular T
reduction) would lead to a NOAEL of
11.5mg/kg–d for DINP. This scenario is
reflected in case 2 of the HI approach.
Id. at p. 98. Regarding exposure, the
CHAP observed: ‘‘DINP has been used
in children’s toys and child care articles
in the past.’’ Id. The CHAP noted that
metabolites of DINP have been detected
in urine samples in NHANES surveys.
Id.
Considering risk in isolation
(following the MOE approach), the
CHAP found MOEs that are generally
considered adequate for public health.
For male developmental effects, in
infants (using the SFF study) the CHAP
stated that the total exposure ranged
from 640 to 42,000, using 95th
percentile estimates of exposure. For
pregnant women (using NHANES data),
the CHAP stated that the MOE for total
DINP exposure ranged from 1000 to
68,000. The CHAP stated: ‘‘Typically,
MOEs exceeding 100–1000 are
considered adequate for public health;
however, the cumulative risk of DINP
with other antiandrogens should also be
considered.’’ Id. at p. 99. The CHAP also
considered the effects of DINP on the
liver, and it found that the MOEs were
within an acceptable range.
In making its recommendation to the
CPSC concerning DINP, the CHAP
stated: ‘‘The CHAP recommends that the
interim ban on the use of DINP in
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49947
children’s toys and child care articles at
levels greater than 0.1% be made
permanent. This recommendation is
made because DINP does induce
antiandrogenic effects in animals,
although at levels below that for other
active phthalates, and therefore can
contribute to the cumulative risk from
other antiandrogenic phthalates.’’ Id.
Di-n-octyl phthalate (DNOP)
The CHAP reviewed data on DNOP.
Id. at pp. 91–95. The CHAP found that,
although DNOP is a potential
developmental toxicant (causing
supernumerary ribs) and a potential
systemic toxicant (causing adverse
effects on the liver, thyroid, immune
system and kidney), ‘‘DNOP does not
appear to possess antiandrogenic
potential.’’ The CHAP estimated that
MOEs for DNOP for infants and toddlers
ranged from 2,300 to 8,200. The CHAP
concluded: ‘‘because the MOE in
humans are likely to be very high, the
CHAP does not find compelling data to
justify maintaining the current interim
ban on the use of DNOP in children’s
toys and child care articles.’’ The CHAP
recommended that the Commission lift
the interim prohibition with regard to
DNOP, but also recommended that
‘‘agencies responsible for dealing with
DNOP exposures from food and child
care products conduct the necessary risk
assessments with a view to supporting
risk management steps.’’ Id. at p. 95.
Diisodecyl phthalate (DIDP)
The CHAP reviewed data on DIDP. Id.
at pp. 100–105. The CHAP found that,
although DIDP is a potential
developmental toxicant (causing
supernumerary ribs) and a potential
systemic toxicant (causing adverse
effects on the liver and kidney), ‘‘DIDP
does not appear to possess
antiandrogenic potential.’’ The CHAP
estimated the MOEs for DIDP range from
2,500 to 10,000 for median intakes and
from 586 to 33,000 for 9th percentile
intakes. Id. at p. 104. The CHAP found
that DIDP’s MOEs in humans are likely
to be relatively high. The CHAP stated:
‘‘The CHAP does not find compelling
data to justify maintaining the current
interim ban on the use of DIDP in
children’s toys and child care articles.’’
The CHAP recommended that the
Commission lift the interim prohibition
with regard to DIDP, but suggested that
‘‘agencies responsible for dealing with
DIDP exposures from food and child
care products conduct the necessary risk
assessments with a view to supporting
risk management steps.’’ Id. at pp. 104–
105.
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b. Other Phthalates
Due to their adverse effect on male
reproductive development (and thus
their contribution to the cumulative risk
from other antiandrogenic phthalates),
the CHAP recommended that the
Commission permanently prohibit the
use of four additional phthalates at
levels greater than 0.1 percent in
children’s toys and child care articles.
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Diisobutyl phthalate (DIBP)
The CHAP found that DIBP is similar
in toxicity to DBP, one of the phthalates
subject to the CPSIA’s permanent
prohibition. The CHAP reviewed
studies that found that exposure to DIBP
had effects on male reproductive
development. The CHAP stated: ‘‘Six
studies in which rats were exposed to
DIBP by gavage during late gestation
showed that this phthalate reduced
AGD in male pups, decreased testicular
testosterone production, increased
nipple retention, increased the
incidence of male fetuses with
undescended testes, increased the
incidence of hypospadias, and reduced
the expression of P450scc, ins13, genes
related to steroidogenesis, and StAR
protein (Saillenfait et al., 2006; Borch et
al., 2006a; Boberg et al., 2008;
Howdeshell et al., 2008; Saillenfait et
al., 2008; Hannas et al., 2011b).’’ Id. at
p. 110.
Regarding exposure, the CHAP noted
that DIBP has been detected in some
toys during routine CPSC compliance
testing. The CHAP stated: ‘‘DIBP is too
volatile to be used in PVC but is a
component in nail polish, personal care
products, lubricants, printing inks, and
many other products.’’ Id. at 111.
Metabolites of DIBP have been detected
in human urine in NHANES surveys
and in Germany.
Assessing risk, the CHAP found: ‘‘The
margins of exposure (95th percentile
total DIBP exposure) for pregnant
women in the NHANES study ranged
from 5,000 to 125,000. For infants in the
SFF study, the MOE (95th percentile
total DIBP exposure) ranged from 3,600
to 89,000.’’ Id. Although these MOEs are
within an acceptable range, the CHAP
stated that the cumulative risk should
be considered. Id. Explaining its
recommendation concerning DIBP, the
CHAP stated:
Current exposures to DIBP alone do not
indicate a high level of concern. DIBP is not
widely used in toys and child care articles.
However, CPSC has recently detected DIBP
in some children’s toys. Furthermore, the
toxicological profile of DIBP is very similar
to that of DBP, and DIBP exposure
contributes to the cumulative risk from other
antiandrogenic phthalates. The CHAP
recommends that DIBP should be
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permanently banned from use in children’s
toys and child care articles at levels greater
than 0.1%.
Id. at pp. 111–112.
Di-n-pentyl phthalate (DPENP)
Although DPENP is not widely used,
the CHAP found that it is the most
potent phthalate with respect to
developmental toxicity. According to
the CHAP, two studies (Howdeshell et
al. (2008) and Hannas et al. (2011a))
found that DPENP exposure reduced
fetal testicular testosterone production,
StAR Cyp11a, and ins13 gene
expression, and increased nipple
retention. Id. at p. 112. The CHAP stated
that DPENP is not currently found in
children’s toys or child care articles and
is not widely found in the environment.
Id. at p. 113. In its recommendation, the
CHAP stated: ‘‘The CHAP recommends
that DPENP should be permanently
banned from use in children’s toys and
child care articles at levels greater than
0.1%. The toxicological profile of
DPENP is very similar to that of the
other antiandrogenic phthalates, and
DPENP exposure contributes to the
cumulative risk.’’ Id.
Di-n-hexyl phthalate (DHEXP)
According to the CHAP, a National
Toxicology Program review of DHEXP
in 2003 reported that based on the
limited data available at that time,
DHEXP is a developmental toxicant at
high doses (9900 mg/kg-d), but the data
were not adequate to determine an
NOAEL or LOAEL. The CHAP stated
that since then, ‘‘one developmental
toxicity study has reported that DHEXP
exposure reduced the AGD in male pups
in a dose-related fashion and increased
the incidence of male fetuses with
undescended testes (Saillenfait et al.,
2009a).’’ Id. at p. 114. The CHAP report
stated: ‘‘Saillenfait et al. observed
reproductive tract malformations,
including hypospadias, undeveloped
testes, and undescended testes, in young
adult male rats exposed prenatally to
doses of 125 mg/kg-d DHEXP or greater
(Saillenfait et al., 2009b).’’ Id. at p. 115.
The CHAP stated that DHEXP is
currently not found in children’s toys or
child care articles and is not widely
found in the environment. It is
primarily used in the manufacture of
PVC and screen printing inks and is also
used ‘‘as a partial replacement for
DEHP.’’ Id. at p. 116. Regarding risk, the
CHAP stated: ‘‘DHEXP is believed to
induce developmental effects similar to
those induced by other active
phthalates. Due to low exposure, current
risk levels are believed to be low.’’ Id.
The CHAP recommended that DHEXP
be permanently banned from use in
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children’s toys and child care articles at
levels greater than 0.1%. The CHAP
stated: ‘‘The toxicological profile of
DHEXP is very similar to that of the
other antiandrogenic phthalates, and
DHEXP exposure contributes to the
cumulative risk.’’ Id.
Dicyclohexyl phthalate (DCHP)
The CHAP found that studies on
DCHP showed effects on male
reproductive development. The CHAP
report states: ‘‘Two studies in rats
exposed to DCHP by gavage during late
gestation showed that this phthalate
prolonged preputial separation, reduced
AGD, increased nipple retention, and
increased hypospadias in male offspring
(Sallenfait et al, 2009a; Yamasaki et al.,
2009). One study in rats exposed to
DCHP in the diet showed that DCHP
decreased the AGD and increased
nipple retention in F1 males (Hoshino et
al., 2005).’’ Id. at pp. 116–117. The
CHAP stated that DCHP is currently not
found in children’s toys or child care
articles and is not widely found in the
environment. FDA has approved it ‘‘for
use in the manufacture of various
articles associated with food handling
and contact.’’ DCHP is also a component
of hot melt adhesives. Id. at p. 117. The
CHAP stated: ‘‘DCHP induces
developmental effects similar to other
active phthalates. Due to low exposure,
current risk levels are believed to be
low.’’ The CHAP recommended that
DCHP be permanently banned from use
in children’s toys and child care articles
at levels greater than 0.1%. Id. at p. 118.
c. Phthalate Alternatives
The CPSIA also directed the CHAP to
consider health effects of phthalate
alternatives and to include in its report
to the Commission recommendations for
any phthalate alternatives that should
be banned. 15 U.S.C. 2057c(b)(2)(B)(viii)
and 2057c(b)(2)(C). The CPSIA defines
‘‘phthalate alternative’’ as ‘‘any common
substitute to a phthalate, alternative
material to a phthalate, or alternative
plasticizer.’’ Id. 2057c(g)(2)(A).
Accordingly, the CHAP also reviewed
phthalate alternatives. CHAP report at
pp. 121–142. The CHAP did not
recommend banning any phthalate
alternatives. We also note that the
Commission’s rulemaking authority
under section 108 of the CPSIA does not
extend to phthalate alternatives. 15
U.S.C. 2057c(b)(3).
D. Comments Regarding the CHAP
Comments concerning the substance
of the CHAP’s analysis are discussed in
section IV of this preamble. This section
covers comments concerning the
CHAP’s process.
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1. Peer Review
Comment: Applicability of OMB Peer
Review Bulletin. Commenters asserted
that the CHAP report was subject to
OMB’s peer review bulletin, that it
qualifies as a ‘‘highly influential’’
scientific assessment, and that it should
be subject to a peer review that
comports with the highest standards for
transparency, openness, and objectivity,
as outlined in the OMB’s peer review
bulletin. (Comments 8.6 and 8.7).
Response: The OMB’s bulletin, Final
Information Quality Bulletin for Peer
Review (70 FR 2664 (Jan. 14, 2005))
(OMB Bulletin), requires ‘‘to the extent
permitted by law,’’ that agencies
conduct peer review on all influential
scientific information that the agency
intends to disseminate. The OMB
Bulletin defines ‘‘influential scientific
information’’ as ‘‘scientific information
the agency reasonably can determine
will have or does have a clear and
substantial impact on important public
policies or private sector decisions.’’ Id.
at 2675. We believe that the CHAP
report could be considered ‘‘influential’’
under this definition. According to the
OMB Bulletin, ‘‘dissemination’’ means
‘‘agency initiated or sponsored
distribution of information to the
public.’’ Id. at 2674. The preamble to the
OMB Bulletin notes that the OMB
Bulletin ‘‘does not directly cover
information supplied by third parties
(e.g., studies by private consultants,
companies and private, non-profit
organizations, or research institutions
such as universities). However, if an
agency plans to disseminate information
supplied by a third party (e.g., using this
information as the basis for an agency’s
factual determination that a particular
behavior causes a disease), the
requirements of the OMB Bulletin
apply, if the dissemination is
‘influential.’ ’’ Id. at 26676. Although the
CHAP report was written by a third
party, we believe that by relying on the
CHAP report in support of the NPR, the
Commission disseminated the CHAP
report. Under the Bulletin, additional
requirements apply to ‘‘highly
influential scientific assessments,’’
which the Bulletin defines as a
scientific assessment that:
(1) Could have a potential impact of
more than $500 million in any year, or
(2) is novel, controversial, or
precedent-setting or has significant
interagency interest.
One might consider the CHAP report
to be a ‘‘novel, controversial, or
precedent-setting’’ report that it could
be of ‘‘significant interagency interest’’
because, as the CHAP report indicates,
many of the products that contain
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phthalates (e.g., food and cosmetics) fall
under other agencies’ jurisdiction.
Comment: Compliance with OMB
Peer Review Bulletin. Some commenters
asserted that the CHAP failed to adhere
to the OMB Bulletin requirements for
the peer review of a highly influential
scientific assessment. In contrast, other
commenters supported the peer review
process used for the CHAP report,
stating that the peer review was part of
an open and transparent process.
(Comment 8.7).
Response: The peer review process
used for the draft CHAP report complied
with the additional requirements for
highly influential scientific assessments.
For example, as noted by some
commenters, the peer review of the draft
report was conducted by four
independent scientists, using the same
criteria for selecting the peer reviewers
(by nomination of the National
Academy of Sciences) required for
selecting the CHAP members. The peer
reviewers were not employed by
manufacturers of the products under
consideration or by the federal
government, except the National
Institutes of Health, the National
Toxicology Program, or the National
Center for Toxicological Research.
Additionally, the CPSC made public:
The identity of the peer reviewers, the
charge to the peer reviewers, the draft
report that was reviewed, and the peer
reviewers’ comments. CPSC posted all
of the information on the CPSC Web site
at the same time the final CHAP report
was released to the public; and the
information is available on the CPSC’s
Web site, in accordance with the
additional requirements for a highly
influential scientific assessment.11
Thus, the public would have ample
opportunity to see the concerns
reviewers raised and how the CHAP
addressed the concerns.
Finally, regarding public comment, as
discussed in the next response, the peer
review process used by CPSC complied
with the OMB Bulletin.
Comment: Peer review and public
comment. Commenters asserted that as
a ‘‘highly influential’’ assessment, the
CHAP report should have been subject
to an open public comment period, as
set forth in the OMB Bulletin.
Commenters asserted that the Bulletin
establishes strict minimum
requirements for the peer review of
highly influential scientific assessments,
including a requirement that an agency
‘‘make the draft scientific assessment
available to the public for comment at
the same time it is submitted for peer
review . . . and sponsor a public
11 See
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meeting where oral presentations on
scientific issues can be made to the peer
reviewers by interested members of the
public.’’ Commenters asserted that this
would have allowed for comment on
flaws in the CHAP’s analysis. (Comment
8.8).
Response: The OMB Bulletin states:
‘‘The selection of an appropriate peer
review mechanism for scientific
information is left to the agency’s
discretion.’’ Id. at 2665. It also advises:
‘‘[a]gencies are directed to choose a peer
review mechanism that is adequate,
giving due consideration to the novelty
and complexity of the science to be
reviewed, the relevance of the
information to decision making, the
extent of prior peer reviews, and the
expected benefits and costs of
additional review.’’ Id. at 2668. We also
note that CPSC staff consulted with
OMB staff before finalizing the peer
review plan for the CHAP report, as
recommended by the OMB Bulletin.
Although the OMB Bulletin uses the
term ‘‘requirements,’’ the document
emphasizes the intent to allow agencies
flexibility in determining appropriate
methods of peer review, id. at 2665, and
the OMB Bulletin is a guidance
document. The OMB Bulletin states that
it ‘‘is not intended to, and does not,
create any right or benefit, substantive
or procedural, enforceable at law or in
equity.’’ Id. at 2677. See Family Farm
Alliance v. Salazar, 749 F. Supp. 2d
1083 (E.D. Cal. 2010) (finding that a
claim that the U.S. Fish and Wildlife
Service had not conducted appropriate
peer review was not judicially
reviewable). Although the draft CHAP
report was not provided to the public
for comment at the time that the CHAP
submitted the report for peer review, the
agency was not required to do so, nor
was the agency required to sponsor a
public meeting on the peer review.
CPSC staff and the CHAP members
reasonably desired that the report
should achieve a high level of quality
before it was released to the public.
Moreover, as explained in the next
response, the CHAP report was
developed through a very open public
process that provided for public input
as the CHAP was developing its report.
2. CHAP’s Transparency and Openness
Comment: Transparency and
openness of CHAP’s process. Several
commenters stated generally that the
process for the CHAP report was not
open and transparent, but had been
conducted behind closed doors. Other
commenters questioned the
transparency of particular aspects of the
CHAP report, such as the methods used
to review the scientific health evidence
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and assess cumulative risk. In contrast,
other commenters asserted that the
CHAP process was a sound and fair
process, adding that the process was
highly public, and that the CHAP
considered public comments and
written submissions (including from
industry representatives who charged
that the process was not open).
(Comments 8.8 and 10.3).
Response: The CHAP’s process for
developing its report was open and
transparent throughout. The CHAP
developed its approach in public during
seven public meetings and six public
teleconference calls. During these public
meetings, the CHAP discussed the
methods that the CHAP would use to
conduct the cumulative risk assessment.
CPSC provided a page on its Web site
to post all CHAP-related information.
All of the data submitted to the CHAP,
CPSC contractors’ reports, and peerreviewed staff reports used by the CHAP
were posted on the CPSC’s public Web
site. The CPSC’s Web site also included
correspondence submitted to CPSC
concerning the CHAP’s work. In fact,
the CHAP elected not to use industry
studies on DINX and DPHP, for the very
reason that the manufacturer would not
make the toxicology studies available to
the public. NHANES data (which the
CHAP relied on) are available to the
public from the CDC. Once the CHAP
transmitted its final report to the
Commission, CPSC posted the final
report, the draft report that had been
submitted for peer review, and peer
reviewers’ comments. The CHAP
considered all subject matter expert
comments from the peer review of the
CHAP draft report. The initial pages of
the CHAP report outlined changes to the
CHAP report resulting from the peer
reviewers’ comments.
3. Weight of Evidence and
Completeness of CHAP’s Review
Comment: Nature of CHAP’s review.
Some commenters stated that the CHAP
did not, but should have, conducted a
systematic review and/or followed a
weight of evidence (WOE) approach.
Various commenters asserted that the
CHAP should have: Employed a
consistent WOE framework;
demonstrated how the CHAP graded,
rated, and interpreted the epidemiology
studies; and specified a clear and
systematic approach for addressing the
uncertainties of the data equally.
(Comment 10.1).
Response: The CHAP used the WOE
approach in two different manners.
First, the CHAP wrote a ‘‘Weight of
Evidence’’ section for each
recommendation for each phthalate and
phthalate alternative. The CHAP also
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used WOE more broadly when
developing overall recommendations for
each phthalate or phthalate alternative.
The CHAP explicitly stated factors it
considered relevant to making its
recommendations. CHAP report at p. 79.
The CHAP stated, however, that
‘‘Because of the nature of the subject
matter and the charge questions, which
involve different streams of evidence
and information, the CHAP concluded
that its review was not amenable to the
systematic review methodology.’’ Id. at
p. 12. This does not mean that the
CHAP’s review was unsystematic and
biased. Rather, the CHAP, which began
in 2010, did not have all of the
systematic review methods that are
available today. However, the CHAP
incorporated many of the elements that
are now included in systematic review
methods in their work. (See Response
10.1 of Tab B of staff’s briefing package
for more detailed response.)
IV. Final Rule and Rationale
This section presents the final rule
and explains the Commission’s rationale
for the rule. The Commission has
considered the CHAP report, staff’s
analysis of the CHAP report, staff’s
analysis of recent NHANES data, and
the public comments submitted in
response to the proposed rule and staff’s
NHANES reports. More specifically, we
present the Commission’s rationale for
the rule by explaining the Commission’s
consideration of: Phthalates’ effects on
male reproductive development, human
exposure to phthalates, assessment of
phthalates’ cumulative risk and risks in
isolation, and assessment of risk for
each phthalate that the CHAP
considered. In addition, the
Commission considered the appropriate
concentration limit for the phthalates
restrictions and the appropriate effective
date for the rule. In this section, we also
discuss phthalate requirements
established by international standards
and other countries.
A. Hazard: Phthalates’ Effect on Male
Reproductive Development
1. Summary
In accordance with the CPSIA’s
direction, the CHAP reviewed all
available toxicity data on phthalates.
The CHAP determined that the critical
endpoint for its analysis was adverse
effects on male reproductive
development (MRDE) and other adverse
effects on male fertility. This focus was
consistent with the NRC’s 2008
assessment. As noted in the NPR, CPSC
staff supports the CHAP’s choice to
focus on this endpoint because: MRDE
in animals is associated with many of
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the most common phthalates; for most
active phthalates, these effects are the
most sensitive health effect; and
phthalate syndrome in animals
resembles testicular dysgenesis
syndrome (TDS) in humans. Moreover,
phthalates’ effects on male reproductive
development are well studied. 79 FR
78331–32.
As the CHAP reported, ‘‘Studies
conducted over the past 20 plus years
have shown that phthalates produce a
syndrome of reproductive abnormalities
in male offspring when administered to
pregnant rats during the later stages of
pregnancy.’’ CHAP report at p. 15.
These effects include: Reduced
testosterone synthesis, reduced
anogenital distance (AGD), nipple
retention (normally does not occur in
male rats), undescended testes,
testicular atrophy, testicular
histopathology, multi-nuclear gonocytes
(MNGs), reduced production of insulinlike hormone 3 (insl3), underdeveloped
gubernacular cords,12 undescended
testes, and genital malformations
(hypospadias).13 Effects may differ
depending on the dose. The CHAP
noted: ‘‘the highest incidence of
reproductive tract malformations is
observed at higher phthalate dose levels,
whereas changes in AGD and nipple/
areolae retention are frequently
observed at lower phthalate does
levels.’’ CHAP report at p. 15. These
effects persist into adulthood and lead
to reduced or absent reproductive
ability. Many, but not all, phthalates
cause phthalate syndrome.14 The CHAP
identified five phthalates (DBP, BBP,
DINP, DIBP, and DEHP) that cause
phthalate syndrome and for which
human biomonitoring data were
available to assess exposure.
As discussed in the CHAP report,
studies have reported similar effects in
species other than rats, such as guinea
pigs, mice, rabbits, and ferrets.15 The
evidence of phthalate syndrome in mice
is even stronger now than when the
CHAP developed its analysis.16 In
addition, as the CHAP noted, ‘‘there is
a rapidly growing body of
12 Underdeveloped gubernacular cords lead to
undescended testes.
13 Foster (2006); Foster et al. (2001); Howdeshell
et al. (2016); Howdeshell et al. (2008).
14 The CHAP referred to phthalates that cause
phthalate syndrome as ‘‘antiandrogenic,’’ due to the
importance of testosterone inhibition in causing
phthalate syndrome. Antiandrogenic also serves to
distinguish phthalates from other chemicals that act
through the androgen receptor, which phthalates do
not.
15 Guinea pigs (Gray et al. (1982)), mice, (Gray et
al. (1982); Moody et al. (2013); Ward et al. (1998)),
rabbits (Higuchi et al. (2003)), and ferrets (Lake et
al. (1976)).
16 Clewell et al. (2011) and Ding et al. (2011).
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epidemiological studies on the potential
association of exposure to phthalates
with human health.’’ CHAP report at p.
27. For example, the CHAP discussed
two human studies linking prenatal
phthalate exposure to effects such as
reduced AGD in male infants. Id. at p.
28. TDS in humans bears similarities to
rat phthalate syndrome. Id. at p. 2. The
effects of TDS (e.g., hypospadias,
cryptorchidism, testicular cancer,
impaired fertility) are observed with
regularity in the U.S. population.
Phthalates have been proposed as
possible contributors to TDS.17
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2. Comments Concerning Male
Reproductive Developmental Effects
Several commenters raised issues
concerning phthalates’ effects on male
reproductive development (MRDE).
They asserted that studies do not
support a determination that phthalates
have the same effects on male
reproductive development in humans
(and other animals) as they do in rats.
Commenters also asserted that, even if
phthalates have some effect, humans are
less sensitive and the CHAP failed to
take this into account, especially
through appropriate uncertainty factors.
Additionally, commenters raised
questions about the epidemiology
studies the CHAP discussed, i.e., studies
concerning phthalates’ effects on human
populations. Commenters also asserted
that, because MRDE would affect the
developing fetus, this was not an
appropriate endpoint for CPSC’s
consideration of a regulation on
children’s toys and child care articles.
Commenters raised questions
specifically about DINP’s association
with MRDE. A summary of key
comments/responses concerning MRDE
appears in this section. Comments/
responses concerning DINP, in
particular, are provided in section
IV.D.1.a. of this preamble.
a. Animal Studies and Their Relevance
to Humans
Comment: Studies on effects of
phthalates on animals other than rats.
Several commenters questioned the
relevance of studies on rat phthalate
syndrome in assessing effects on
humans. Commenters asserted that
studies involving animals other than
rats (e.g., hamsters and marmosets,)
indicate that phthalates are not likely to
have the same adverse effects in people
that they have in rats. Commenters
argued that marmosets, being primates
and having reproductive organ
development that is similar to humans,
were more closely related to humans
than rats and, therefore, are a better
model for estimating human risk.
Commenters focused particularly on one
study (McKinnell et al. (2009)) that
reported no observed effects for several
relevant endpoints. Some commenters
asserted that studies involving mice
indicate that humans, who are more
similar to mice than rats, are likely less
sensitive to phthalates than rats.
Commenters also cited xenograft studies
(i.e., transplanting human fetal
testicular tissue into rats or mice) as
supporting the conclusion that exposure
to phthalates does not result in MRDE
in humans, or at the least, humans are
less sensitive than rats. (Comments 1.1
through 1.5).
Response: Phthalate syndrome has
been reported to occur in multiple
mammalian species, including guinea
pigs, mice, rabbits, and ferrets. Although
studies indicate that hamsters were
resistant to the effects of phthalates due
to their slow metabolism to the active
metabolite, a study by Gray et al. (1982)
shows that giving the active metabolite
to hamsters causes phthalate syndrome.
Regarding mice, the CHAP discussed
studies that found some effects in mice
(e.g., disruptions in seminiferous cord
formation, the appearance of
multinucleated gonocytes, and
suppression of insulin-like factor 3
(insl3)). CHAP report at p. 6. Some
studies published after the CHAP
completed its analysis provide
additional evidence of phthalate
syndrome effects in mice, including
reduced testosterone levels, reduced
testosterone production, testicular
damage, reduced sperm count and
quality, reduced AGD, delayed pubertal
onset, and increased nipple retention.18
Thus, there is now even stronger
evidence of phthalate syndrome in mice
than was available to the CHAP. The
CHAP cautioned that differences in
methodology could cloud the issue of
which species is more sensitive. CHAP
report at pp. 17 and 72. Even if mice or
other species are less sensitive than rats,
it is not possible to make a direct
comparison to humans without doseresponse information in humans.
Furthermore, the most sensitive
species is generally used in assessing
risks to humans.19 The CHAP
concluded that rats provide the most
sensitive and most extensive studies in
male developmental toxicity. CHAP
report at pp. 1, 15, 16, 76. Phthalate
syndrome in rats resembles the TDS in
humans. Id. at pp. 2, 75. For these
reasons, the CHAP concluded that
18 Doyle
et al. (2013) and Ge et al. (2015).
and Dourson (1988); CPSC (1992); EPA
19 Barnes
17 Scott
et al. (2007); Skakkebaek et al. (2001).
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(1991).
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49951
studies in rats currently offer the best
available data for assessing human risk.
Id. at pp. 18, 75.
Regarding the marmoset studies, the
CHAP paid particular attention to these
studies and invited Richard Sharpe, the
principal investigator of the Hallmark
and McKinnell studies, to present his
findings at the CHAP meeting in
November 2011. Dr. Sharpe agreed with
the CHAP that both studies were limited
by the small numbers of animals used
and the brief duration of exposure. Dr.
Sharpe added that his studies were very
preliminary and that it would be
premature to use his studies’ results to
support public health decisions. Even
though limited, the published studies
do show that the phthalate metabolite
suppressed steroidogenesis in neonatal
marmosets.
Regarding the xenograft studies,
commenters cited two studies in which
rat fetal testes or human fetal testicular
tissue were transplanted (xenografted)
into rats (Heger et al. (2012)) or mice
(Mitchell et al. (2012)). As discussed by
the CHAP, these studies are subject to
a number of limitations. CHAP report at
p. 17. Most of the human fetal tissue
samples were obtained after the human
window of maximum susceptibility to
phthalates, meaning that the tissues
were less susceptible to MRDE induced
by phthalates. In contrast, constant
exposure to phthalates in the womb
would always expose the fetal tissue to
phthalates at their time of maximum
sensitivity. Staff provides more detailed
responses concerning these studies on
animals other than rats in comment/
responses 1.1 through 1.5.
Comment: Implications of in vitro
studies and studies involving chemicals
other than phthalates. Some
commenters discussed studies in which
human testicular tissue or cells were
cultured in vitro and then exposed to
phthalates.20 Commenters asserted that
these studies raise questions about
whether phthalate-induced testosterone
reduction in rats is relevant to humans.
Commenters also asserted that studies
(which were not cited by the CHAP) of
chemicals with the same mode of action
as phthalates, DES and finasteride, show
that humans are resistant to phthalates.
(Comments 1.6 and 1.7).
Response: In vitro studies use
techniques that are performed in a
controlled environment outside of a
living cell or organism, while in vivo
studies are performed inside living cells
or organisms. CPSC staff reviewed the
studies and concludes that the in vitro
studies with human fetal testicular
20 Desdoits-Lethimonier et al. (2012); Lambrot et
al. (2009).
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tissue are still preliminary and are
generally not sufficient, by themselves,
to support public health decisions. In
vivo animal studies are generally given
greater weight in risk assessment. As the
CHAP noted, there is also a growing
body of evidence in humans that shows
associations between phthalate
exposure and MRDE endpoints that are
consistent with the rat data.
Regarding DES and finasteride, the
CHAP assessed each phthalate based on
the best available data for each
individual chemical, and based its
recommendations on those assessments.
The CHAP did not base its conclusions
on an assumption that all phthalates
will behave the same way as DES or
finasteride. The DES and finasteride
publication cited by commenters
implies that humans are less sensitive
than rats to these two chemicals.
However, this assertion does not mean
that all phthalates will produce similar
biological effects as DES or finasteride;
phthalates do not have a similar
chemical structure, are not metabolized
or detoxified in the same way, and will
not have similar dose-response curves to
those of DES or finasteride.
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b. Uncertainty Factors
Comment: Adjusting uncertainty
factors. Some commenters asserted that,
even if one accepts that studies on rats
demonstrate that phthalates have some
effect on humans, humans are less
sensitive than rats, and one must adjust
the interspecies uncertainty factor to
avoid overestimating the risk to
humans. Some commenters suggested
that instead of an interspecies
uncertainty factor of 10, which the
CHAP used, the uncertainty factor
should be 0.1 (i.e., humans are 10x less
sensitive than rodents) to 1 (humans are
equally sensitive as rodents).’’ Other
commenters asserted that the CHAP
should have used a different
intraspecies uncertainty factor. They
argued that the intraspecies uncertainty
factor of 10 used by the CHAP is overly
conservative because the PEAAs are
already based on a sensitive population.
Commenters on both types of
uncertainty factors asserted that
following their recommendations would
have reduced the HI in the CHAP’s
cumulative risk analysis so that it would
be less than one. (Comments 1.8 and
1.9).
Response: An uncertainty factor is
used in risk assessments to account for
differences among different species. An
interspecies uncertainty factor of 10 is
consistent with the general practice
used by CPSC, EPA, and others in risk
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assessment, to account for interspecies
differences.21
Humans are frequently more sensitive
to reproductive and developmental
effects than animals,22 and human
males are considered more vulnerable
than other mammals.23 Commenters
cited xenograft studies to support the
assertion that humans are less sensitive
than rats to phthalates effects. As
discussed in the response above, these
preliminary studies do not provide
sufficient support for reducing the
interspecies uncertainty factor.
An uncertainty factor is also used to
account for differences in how members
of the same species could react to a
chemical (i.e., human variability). In
deriving PEAAs, the CHAP applied an
intraspecies UF of 10 to account for
differences in sensitivity among
individuals. CHAP report at pp. 63–66.
CPSC staff expects that the population
of infants and fetuses will have a broad
range of sensitivity, because age, sex,
genetic composition, nutritional status,
and preexisting diseases may all alter
susceptibility to toxic chemicals.24
Multiple federal agencies use an
intraspecies uncertainty factor of 10.25
The CHAP used only the interspecies
uncertainty factor and intraspecies
uncertainty factor in its analyses. The
CHAP did not apply an additional UF
to protect infants.
c. Epidemiology Studies
Comment: Role of epidemiology
studies in CHAP’s report and
recommendations. Some commenters
suggested that human epidemiological
evidence for phthalate-induced effects
was equivocal or inconsistent with
results from animal studies, and did not
support the CHAP’s conclusions and
recommendations. Some commenters
asserted that these studies did not show
consistent results and have not
established a cause and effect
relationship between phthalate
exposure and MRDE effects in humans.
(Comment 7.1).
Response: The CHAP’s assessment
and recommendations to the
Commission are based primarily on
animal studies. However, the CHAP
reviewed epidemiology studies as well.
CPSC staff agrees with the CHAP that
these epidemiology studies indicate an
association of exposure to phthalates
with human health. Under CPSC’s
21 Barnes and Dourson (1988); CPSC (1992);
Dankovic et al. (2015); EPA (1991); Pohl and
Abadin (1995).
22 EPA (1991).
23 Klaassen (2001), p. 703.
24 Pohl and Abadin (1995).
25 Barnes and Dourson (1988); CPSC (1992);
Dankovic et al. (2015); EPA (1991).
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Chronic Hazard Guidelines and other
agencies’ guidance, epidemiological
studies establishing a causal
relationship between exposure and
effect are not required to conclude that
a substance or mixture is ‘‘probably
toxic to humans.’’ CPSC’s Chronic
Hazard Guidelines, 57 FR 46626, 46641
(Oct. 9, 1992). CPSC staff considers that
there is sufficient evidence in animal
studies to conclude that certain
phthalates are probably toxic to
humans. Epidemiological data provide
supporting evidence for the animal data
and also support the conclusion that the
animal data are relevant to humans. In
addition, staff states that the CHAP’s
conclusion is consistent with a recent
NAS (2017) report that also concluded
that there is a ‘‘moderate level of
evidence’’ from epidemiological studies
that DEHP and DBP induce MRDE in
humans (based on changes in AGD). The
NAS report’s conclusions provide
additional confidence that phthalates
cause MRDE in humans. Although there
are a few inconsistencies in the findings
from epidemiological studies,
inconsistencies among epidemiological
studies are common, due to differences
in study methods, characteristics of the
study population, study size, and the
statistical power of the study to detect
associations. Establishing cause and
effect in epidemiological studies is not
required by federal and international
agencies to conclude that a substance is
likely to cause similar effects in
humans.
Comment: Studies on reduced
anogenital distance (AGD). Several
commenters raised questions about an
association between phthalate exposure
and reduced AGD in males.
Commenters noted inconsistencies in
results among published studies and
noted that effects occurred sporadically
and inconsistently, even when
performed by the same laboratory. Some
commenters pointed to inconsistencies
between epidemiological and animal
studies. Other commenters took a
different view, noting that ‘‘these
markers are linked with diminished
reproductive health in males.’’
(Comments 7.3 and 7.7).
Response: The CHAP considered and
discussed the inconsistent
epidemiological data, noting the need to
evaluate carefully negative and positive
findings. CHAP report at p. 21. The
CHAP considered the available
epidemiological evidence, along with
the animal studies, and determined that
human AGD is a relevant measure of the
antiandrogenic mode of action of
phthalates during fetal development.
CPSC staff concludes that, with few
exceptions, the epidemiology studies
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are generally consistent with one
another and with the results of animal
studies.
Reduced AGD is one of many effects
associated with phthalate syndrome.
Studies demonstrate that phthalates
cause permanent effects on male
reproductive development.26 Jain and
Singal (2013) reported that infants with
undescended testis (cryptorchidism—an
adverse clinical outcome) had a
significantly shorter AGD and AGI when
compared to infants with descended
testis. Thankamony et al. (2014)
reported the results of a comparative
study involving AGD (and penile
length) in infants that were normal and
those with hypospadias or
cryptorchidism. They determined that
AGD was statistically reduced in boys
with hypospadias or cryptorchidism
when compared to boys without these
pathologies. They concluded: ‘‘The
findings support the use of AGD as a
quantitative biomarker to examine the
prenatal effects of exposure to endocrine
disruptors on the development of the
male reproductive tract.’’
Comment: DEHP exposure and
medical procedures. One commenter
stated that the lack of evidence showing
effects occurring in adults and infants
who are exposed to DEHP from
intensive medical procedures makes it
unlikely that less potent phthalates
would induce adverse reproductive
effects in humans. (Comment 7.4).
Response: Few studies have
specifically investigated possible health
outcomes from phthalate exposures
from medical equipment. The
commenter cited two studies, one that
the CHAP also discussed. Although this
study did not find phthalate-related
health effects, the CHAP concluded that
the very small sample size limits its
usefulness. CPSC staff concludes that
because of the uncertainties in the
existing data, no conclusions can be
drawn from high exposures to DEHP in
medical procedures.
d. Relevance of Endpoint to Rulemaking
Comment: Disconnect between risk
assessment’s focus on fetus as target
population and focus of rule.
Commenters questioned how a rule
restricting phthalates in children’s toys
and child care articles could reduce the
risk of phthalate syndrome when the
fetus, not infants and children who use
toys and child care products, is the
population primarily at risk for adverse
effects on male reproductive
development. Commenters noted that
the CHAP’s analysis shows that
exposures of women to DINP from
26 e.g.,
Boberg et al. (2011); Clewell et al. (2013b).
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children’s toys and childcare articles are
negligible. (Comment 1.11).
Response: Although fetuses are
considered to be the most sensitive
population for MRDE, based on data
from animal studies, the CHAP
recognized that other populations such
as infants, toddlers, and children also
are susceptible to the effects of
phthalates. CHAP report at p. 14.
Testosterone production and other
processes involved in reproduction
remain critical throughout male
development in animals and humans
from the prenatal period through
puberty.
Testosterone production is required
throughout a male’s lifetime to maintain
the ability to reproduce.27 Moreover,
CPSC, like other federal agencies, uses
the most sensitive and appropriate
human target population in risk
assessments. The practice of selecting
the most protective endpoints and
potency estimates (i.e., PODs) based on
the best available studies is consistent
with the statutory mandate to provide a
reasonable certainty of no harm with an
adequate margin of safety. Using the
lowest POD also is consistent with
CPSC Chronic Hazard Guidelines, 57 FR
46626 (Oct. 9, 1992), and other federal
agency practices.28
3. National Academy of Sciences Report
on Endocrine Disruptors
In July 2017, the National Academies
of Sciences, Engineering, and Medicine
(NAS) released a report entitled,
Application of Systematic Review
Methods in an Overall Strategy for
Evaluating Low-Dose Toxicity from
Endocrine Active Chemicals (NAS
2017).29 The study responds to EPA’s
request that the NAS develop a strategy
to evaluate the evidence for potential
human health effects from endocrine
active chemicals at low doses. The NAS
selected phthalates as one of two
chemicals to demonstrate the systematic
review methods and integration of
results. In a chapter titled, ‘‘Phthalates
and Male Reproductive-Tract
Development,’’ the NAS study evaluated
three health effects (fetal testosterone,
anogenital distance (AGD), and
hypospadias). CPSC staff reviewed the
NAS study.
Unlike the CHAP report, the NAS
study is not a risk assessment. Rather,
27 Foster
(2006).
and Dourson (1988); EPA (1991).
29 NAS (2017) Application of Systematic Review
Methods in an Overall Strategy for Evaluating LowDose Toxicity from Endocrine Active Chemicals.
National Academies of Sciences, Engineering, and
Medicine, National Research Council. Washington,
DC: The National Academies Press. doi: https://
doi.org/10.17226/24758.
28 Barnes
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the NAS study reviewed individual
phthalates and three individual health
effects, focusing on whether enough
quality data existed to term the
particular phthalates a reproductive
hazard to humans. In contrast, the
CHAP considered all phthalate
syndrome effects. In spite of these
differences, the NAS report’s
conclusions are consistent with the
CHAP and staff’s hazard conclusions.
The phthalates section of the NAS
report focused on DEHP, and provided
a ‘‘final hazard conclusion’’ for each of
the endpoints. Thus, for fetal
testosterone and AGD, DEHP is
presumed to be a reproductive hazard to
humans; for hypospadias, DEHP is
suspected to be a reproductive hazard to
humans (NAS 2017, pp. 78–81). For the
other assessed phthalates, including
DINP, the NAS report did not conduct
the final analysis step that results in a
‘‘final hazard conclusion.’’ The report
provides only the ‘‘initial hazard
evaluations’’ for fetal testosterone, AGD,
and hypospadias in humans. The report
found for fetal testosterone, the
phthalates BBP, DBP, DEP, DIBP, DINP,
and DPP are presumed to be
reproductive hazards to humans; DEP is
not classifiable for this endpoint (NAS
2017, Table 3–30). AGD, BBP, DBP, and
DEP are presumed to be reproductive
hazards to humans, while DIBP, DIDP,
and DINP are not classifiable (NAS
2017, Table 3–29). For hypospadias,
BBP is suspected to be a reproductive
hazard to humans and DBP is presumed
to be a reproductive hazard to humans
(NAS 2017, Table 3–31). The NAS
committee did not evaluate DHEXP,
DCHP, or DIOP.
With regard to DINP, the NAS study
concluded:
• DINP effect on Fetal Testosterone:
The NAS concluded: ‘‘there is a high
level of evidence that fetal exposure to
DINP is associated with a decrease in
fetal testosterone in male rats,’’ and that
there was ‘‘inadequate evidence to
determine whether fetal exposure to
. . . DINP, . . . is associated with a
reduction in fetal testosterone in male
humans.’’ Overall, the NAS’ initial
hazard evaluation of DINP and fetal
testosterone in humans was that DINP
was a ‘‘presumed human hazard.’’
• DINP effect on AGD: The NAS
concluded: ‘‘there is an inadequate level
of evidence to assess whether fetal
exposure to DINP is associated with a
decrease in AGD in male rats,’’ and:
‘‘the available studies do not support
DINP exposure being associated with
decreased AGD.’’ Overall, the NAS’
initial hazard evaluation of DINP and
AGD in humans was ‘‘not classifiable.’’
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CPSC staff provides a more detailed
discussion of the NAS report in the final
rule briefing package at section III.B. of
the briefing memorandum.
B. Exposure to Phthalates
As noted, the CHAP considered
exposure in two ways: Human
biomonitoring studies that estimate total
exposure to phthalates and the scenariobased assessment that estimates
exposure to specific products and
sources.
1. Human Biomonitoring
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a. Summary
The CHAP used data from NHANES
to estimate phthalate exposures to
pregnant women. The CHAP also used
human biomonitoring data from the SFF
study to estimate exposures to infants
and their mothers because NHANES
does not collect data on children under
6 years old. The CHAP’s analysis of
NHANES data was based on the 2005/
2006 data cycle. CPSC staff
subsequently analyzed data from later
NHANES data sets. Because the 2005/
2006 data set was the last to sample a
sufficient number of pregnant women to
make reliable exposure estimates for
pregnant women, CPSC staff’s analyses
are for women of reproductive age
(WORA). Staff determined that WORA
are a suitable surrogate for pregnant
women. CPSC staff’s June 2015 report;
Tab A of staff’s briefing package. CPSC
staff then used the CHAP’s methodology
and later NHANES data sets (2007/2008,
2009/2010, 2011/2012) to estimate
phthalate exposure, individual
phthalate risk, and the cumulative risk
(i.e, hazard index). Id. When CDC
released another data set, 2013/2014,
staff performed a similar analysis using
that data. CPSC staff’s February 2017
report; Tab A of staff’s briefing package.
No more recent SFF data are available.
In CPSC staff’s analysis of NHANES
data published following the CHAP’s
analysis, staff found that total phthalate
exposures in WORA have changed. The
median total exposure to the phthalates
included in the CHAP’s cumulative risk
assessment (DEHP, DINP, BBP, DBP,
DIBP) has increased by 20 percent in
WORA. In particular, the estimated
median DEHP exposure in WORA has
declined over time, while the estimated
median DINP exposure in WORA has
increased fivefold since 2005/2006.30
Although DEHP was the major
contributor to the cumulative risk in
2005/2006, DINP now contributes about
as much as DEHP. See TAB A of staff’s
30 Zota
et al. (2014).
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briefing package, Figures 6 and 7, and
Table 8.
No new data on infants or pregnant
women are available to quantify the
effects of changing exposures. Given
that the overall phthalate exposures to
WORA have declined since 2005/2006,
it is possible that exposures to infants
and pregnant women have also
declined. In general, studies indicate
that infants’ and children’s exposures to
chemicals tend to be greater than in
adults.31 With regard to phthalates,
daily intakes of the phthalates the CHAP
examined in its cumulative risk
assessment were generally twofold to
threefold greater in SFF infants than in
their mothers. CHAP report at Table 2.7.
In the CHAP’s scenario-based exposure
assessment, estimated daily intakes
were twofold to fivefold greater in
infants than in women. CHAP report,
Appendix E1, Table E1–18.
Additionally, a study of German nursery
school children found they had roughly
twice the DEHP exposure as their
parents.32 Because CPSC does not have
exposure data for children more recent
than the SFF data used by the CHAP,
staff can only make a qualitative
assessment that infants and children
could have greater exposure to
phthalates than what the NHANES data
indicate for WORA. In section IV.C.1. of
this preamble, we discuss the effect of
the more recent NHANES data on risk.
b. Comments Concerning Biomonitoring
Data
i. Particular Data Sets
Comment: CHAP’s use of 2005/2006
NHANES data. Several commenters
criticized the CHAP’s use of 2005/2006
NHANES data. Commenters noted that
the CHAP report states: ‘‘the stopping
point for CHAP analysis and
interpretation was information available
by the end of 2012.’’ However,
commenters stated, both 2007/2008 data
and 2009/2010 data were available by
then. A commenter noted that the 2009/
2010 data set was available in
September 2012, nearly 2 full years
before the final CHAP report was issued
and before the CHAP cutoff date for
consideration of new information (end
of 2012). The commenter noted that the
2011/2012 data set was available in
November 2013, ahead of the meeting in
January 2014 at which the CHAP
discussed the peer review of its report.
(Comment 3.1).
Response: The CHAP used 2005/2006
NHANES data on pregnant women to
assess phthalate exposure as part of the
31 CHAP 2014; Sathyanarayana et al. (2008a);
Swan (2008); Swan et al. (2005).
32 Koch et al. (2004).
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cumulative risk assessment, to satisfy
the CPSIA’s charge to ‘‘examine the
likely levels of children’s, pregnant
women’s, and others’ exposure to
phthalates . . . .’’ 15 U.S.C.
2057c(b)(2)(B)(iii) (emphasis added).
This data set was the most recent data
on pregnant women available at the
time the CHAP completed its analysis in
July 2012. CHAP report at p. 31. The
2005/2006 NHANES study was the last
data cycle to include a large sample of
pregnant women. The CHAP included
summary phthalate metabolite data from
the 2007/2008 data cycle in its report,
id. at Tables 2.5, 2.6., but did not
calculate exposure and risk because this
data set did not have sufficient numbers
of pregnant women. Partial data for
2009/2010 were first released in
September 2012, after the CHAP
completed its analysis in July 2012.
Although the 2011/2012 data on
phthalate metabolites were initially
released in November 2013, the data
were revised in October 2014, and other
files that were needed to calculate
exposure and risk were not published
until January 2015, well after
publication of the final CHAP report.
Regarding the CHAP report’s statement
about a cutoff date, read in context, the
cutoff date clearly refers to the final
update of the CHAP’s search of the
biomedical literature for new peerreview publications in biomedical
journals, specifically, National Library
of Medicine databases. In any event,
CPSC recognized that more recent
NHANES data than the set on which the
CHAP relied were available.
Accordingly, CPSC staff analyzed the
later NHANES data sets and used the
most recent data in its analysis for the
final rule.
Comment: Pregnant women and
women of reproductive age. Some
commenters stated that the 2005/2006
NHANES data on WORA were a
reasonable surrogate for the data on
pregnant women, and that the CHAP
should have used WORA in its
cumulative risk assessment because the
WORA have an increased sample size in
most NHANES datasets and phthalates
exposures for both are statistically
similar. Commenters asserted that the
sample size for pregnant women in the
CHAP’s analysis was too small to yield
reliable risk estimates. In contrast,
another commenter supported the
CHAP’s decision to base its analysis on
the 2005/2006 data that focused on
pregnant women. (Comments 3.7 and
3.10).
Response: The CHAP stated that it
chose to use biomonitoring data from
the 2005/2006 NHANES and from the
SFF ‘‘because of the CHAP’s task to
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investigate the likely levels of
children’s, pregnant women’s, and
others’ exposure to phthalates and to
consider the cumulative effect of total
exposure to phthalates both from
children’s products and other sources.’’
CHAP report at p. 35. Although, as the
CHAP stated, there are indications that
exposures may be higher in pregnant
women than in women in general, the
CHAP stated: ‘‘the exposures were not
found to be significantly different.’’ Id.
at p. 36. CPSC staff compared estimates
from the 2005/2006 NHANES data set to
determine whether WORA had similar
daily intake (DI) and Hazard Index as
Pregnant Women. CPSC staff found that
median and 95th percentile estimates of
the DI for five phthalates were generally
similar when comparing WORA to
pregnant women. Regarding the sample
size of pregnant women, CDC calculated
the sample size necessary for statistical
analysis of NHANES data. In the data
sets after 2005/2006, NHANES no longer
oversampled pregnant women.
Therefore, the numbers of pregnant
women in data sets after 2005/2006
were too small to generate statistical
estimates for pregnant women. See Tab
A of staff’s briefing package.
ii. Biomonitoring Methodology
Commenters raised concerns about
various technical aspects of the
NHANES data (e.g., effects of fasting,
spot sampling rather than averaging
urine samples over time, using hydrolic
metabolites for DINP and DIDP, and
appropriate metabolite markers). Key
points are discussed below. More details
are provided in Tab B of the staff’s
briefing package, particularly comments
1.13, 3.6, 3.11, and comments 3.14
through 3.17.
Comment: Urinary spot sampling.
Several commenters raised concerns
about urinary spot sampling. They
noted that biomonitoring studies (and
NHANES in particular) take one spot
urine sample as opposed to averaging
urine samples collected over a longer
period of time. Commenters claimed
that spot sampling does not accurately
reflect the duration of exposure
necessary to develop MRDE. They stated
that the exposure information should
match the exposure scenario of that
hazard data to which it is compared
(e.g., chronic exposure to chronic
hazard). They asserted that spot
sampling would not capture the day-today variability in urinary concentration
of most phthalates and would
overestimate the risk. However, another
commenter stated that spot samples are
as predictive of urinary concentration as
24-hour urinary samples. (Comments
1.13 and 3.11).
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Response: The CHAP and CPSC staff
estimated daily intake of each phthalate
by modeling creatinine-related
metabolite measurements across
participants in NHANES. NHANES
measured metabolites from one spot
urine sample per individual in the
study. Spot urine samples were
collected at different sites and at various
times of the day and days of the week.
Additionally, because participants for
each NHANES study cycle were
randomly selected from civilian, noninstitutionalized individuals in the
United States, according to a
probability-based complex, multistage
sample design, the estimated daily
intakes are representative of the U.S.
population. The estimated daily intakes
and the resulting HQs and HIs represent
estimated population per capita
phthalate exposure across the 2-year
NHANES cycle, not average daily
estimates of an individual’s exposure
across time. Thus, an estimated
proportion of the population with an HI
less than one, using HBM from
NHANES, represents the estimated
proportion of the population within that
cycle that would have an HI less than
one at any one given time of that cycle.
Estimates based on NHANES HBM do
not imply that individuals with HI less
than one at a given time will continue
to have an HI less than one for all 2
years of a NHANES study cycle.
CPSC staff notes that longer-term
exposures are not necessarily required
to cause MRDE. Numerous studies in
animals have demonstrated that MRDE
and related effects can occur after one
or a few doses.33 Shorter-term elevated
exposure could be related to adverse
health outcomes in the fetus, if the
exposure occurs during the window of
susceptibility. Although human
phthalate exposures may vary from dayto-day or during the course of a day,
humans are exposed to phthalates every
day.
Comment: Fasting time differences.
Some commenters discussed whether
fasting times affected the concentration
of phthalate metabolites in the urine in
NHANES results and whether there
were differences in fasting times in the
data sets of different years. (Comment
3.6).
Response: The CHAP paid special
attention to the possible effects of
fasting on NHANES data. Staff reviewed
33 Carruthers and Foster (2005); Creasy et al.
(1987); Ferrara et al. (2006); Gray et al. (1999);
Hannas et al. (2011); Jobling et al. (2011); Jones et
al. (1993); Li et al. (2000); Parks et al. (2000);
Saillenfait et al. (1998); Saitoh et al. (1997); Spade
et al. (2015); Thompson et al. (2004); Thompson et
al. (2005).
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NHANES documentation 34 35 and spoke
with CDC staff regarding fasting
protocol changes between cycles. No
fasting requirements changed.
Therefore, fasting requirements were not
a factor in the decision not to combine
data from subsequent NHANES cycles
with the 2005/2006 data. CPSC staff
concludes that fasting may have an
impact on food-borne phthalates; but if
anything, this would result in
underestimation of risk. CPSC staff
concludes that the major conclusion or
the recommendation of the CHAP report
would not change whether the CHAP
included the early NHANES data or not.
Comment: Urinary excretion rates and
metabolites. Some commenters raised
concerns about the urinary excretion
rates and the metabolites used in the
NHANES data. One commenter asserted
that staff’s analysis in its June 2015
report of the 2009/2010 and 2011/2012
NHANES data sets overestimated
exposures because it did not consider
urinary excretion rates. Another
commenter stated that the metabolites
used for DINP and DIDP could lead to
underestimation of phthalate risk when
compared to other phthalates, such as
DEP, DBP, DIBP, and BBP. Five
commenters asked CPSC to re-evaluate
exposure using additional metabolite
biomarkers for DINP, DNOP, and other
phthalates and also re-evaluate using
later NHANES data. One of the
commenters asserted that the
quantitative estimates of DINP risk from
the 2017 analysis provided by CPSC
staff were calculated incorrectly and
were 17 percent too high. The
commenter requested that staff use
multiple metabolites (e.g., MINP and
MCOP) to estimate DINP exposure
instead of just one (MCOP). The
commenter noted that exposure
estimated for DEHP used four
metabolites. (Comments 3.14 through
3.17).
Response: Regarding staff’s 2015
report and excretion rates, the
additional information necessary to
calculate directly urinary mass
excretion rates was not collected during
the 2005/2006 or 2007/2008 NHANES
studies. Therefore, the extrapolation
method was the only option available to
the CHAP. Staff replicated the CHAP’s
reported exposure and risk estimates
using the 2005/2006 NHANES data and
34 National Health and Nutrition Examination
Survey, 2005–2006 Data Documentation, Codebook,
and Frequencies. Available at: https://
wwwn.cdc.gov/Nchs/Nhanes/2005-2006/FASTQX_
D.htm.
35 National Health and Nutrition Examination
Survey, 2003–2004 Data Documentation, Codebook,
and Frequencies. Available at: https://
wwwn.cdc.gov/nchs/nhanes/2003-2004/PH_C.htm.
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applied the same methods to calculate
estimates from the later NHANES
studies. Regarding metabolite
biomarkers, CPSC used MCOP to
analyze phthalate exposure, as the
CHAP did. This was appropriate
because for exposed individuals, MCOP
will be detected more frequently and at
higher levels than other DINP
metabolites. Regarding the use of both
MINP and MCOP to estimate DINP
exposures, staff does not agree that the
estimated exposures for DINP in the
2015 and 2017 analyses were incorrect.
CPSC staff used one metabolite, MCOP,
to estimate DINP exposure in order to be
consistent with the CHAP methodology
and previous staff exposure and risk
documents. The CHAP recognized that
there are multiple ways to estimate
phthalate exposure using individual and
combined phthalate metabolites, and
the CHAP provided a table of potential
metabolites and associated fraction of
the urinary metabolite excreted factors.
CHAP report at Table D–1.
Comment: SFF data. A commenter
noted that SFF data were collected
before the CPSIA was implemented, and
before an asserted sharp decline in
DEHP exposure. Thus, according to the
commenter, basing the NPR on the SFF
data (which was the exposure data used
to determine that 5 percent of infants
have an HI greater than one) is not
supportable. (Comment 3.5).
Response: Infants’ and children’s
phthalate exposures tend to be greater
than adults’ exposure.36 For the
phthalates in the CHAP’s cumulative
risk assessment, daily intakes were
generally twofold to threefold greater in
SFF infants than in their mothers. CHAP
report at Table 2.7. No more recent
information on infant exposures is
available than the 1999/2005 SFF data,
which was used by the CHAP (and
subsequently by CPSC in the NPR).
Infant exposures may have changed
since 2005, but staff has no infant data
to quantify any change.
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2. Scenario-Based Exposure Assessment
a. Summary
Because biomonitoring data do not
provide any information about the
sources of phthalate exposure, the
CHAP also included a scenario-based
exposure assessment in its report. CHAP
report at pp. 49–60, Appendix E1. The
exposure assessment evaluated
exposure from individual sources, such
as toys, personal care products, and
household products. The assessment
considered the exposure routes of
inhalation, direct and indirect ingestion,
36 CHAP (2014); Sathyanarayana et al. (2008a);
Swan (2008); Swan et al. (2005).
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and dermal contact. The CHAP stated
that its goal was to determine the
significance of exposure to phthalates in
toys and to estimate exposure to
toddlers and infants for all soft plastic
articles, except pacifiers (because
pacifiers do not contain phthalates). Id.
at p. 49. For phthalates that are
currently prohibited from being in
children’s toys and child care articles,
the CHAP report provides estimated
exposures that would hypothetically
occur if phthalates were allowed in
those products. Id. at pp. 49–50.
Scenario-based exposure estimates are
developed using information about
relevant sources of phthalate exposure
(e.g., concentrations of phthalates in
soil, dust, and in products); data on
migration or leaching of phthalates from
products; physiological information
(e.g., body weight and skin surface area);
and information about how the
subpopulations use and interact with
products, including frequency and
duration of contact with products and
environmental media.
The exposure assessment considered
seven categories of exposure sources
and activities involving those sources:
Diet, prescription drugs, personal care
products, toys, child care articles,
indoor environment, and outdoor
environment. Id. at p. 50. For each
subpopulation (pregnant women/
WORA, infants, toddlers, and children),
the assessment provides estimated daily
aggregate exposures to each of the eight
phthalates included in the cumulative
risk assessment. Id. at pp. 50–51 and
Table 2.11. The relative contribution
(percent of total exposure) for each
activity was determined. The analysis
found that for women, diet contributes
more than 50 percent of the exposure to
DIBP, DNOP, DEHP, DINP and DIDP. Id.
at Appendix E1–26. For infants and
toddlers, more than 50 percent of DIBP,
DINP, and DIDP exposure and more
than 40 percent of DEHP exposure
comes from diet.
Although certain phthalates had not
been permitted in children’s toys and
child care articles since 2008, the
exposure assessment considered what
contribution these products could make
to overall phthalate exposure if those
phthalates were allowed in children’s
toys and child care articles. The
exposure analysis showed that, on
average, mouthing and dermal exposure
to toys could contribute around 12.8
percent to the overall DINP exposure of
infants, if DINP were used in these
products. CHAP report at Appendix E1,
Table E–21. The same analysis shows
that dermal contact with child care
articles could contribute up to an
additional 16.5 percent of the overall
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exposure to infants. Therefore, if DINP
were used in all of the products that
were included in the scenario-based
exposure assessment, children’s toys
and child care articles could account for
around 29 percent of infants’ total
exposure from all evaluated sources. Id.
It is not possible to accurately
quantify the number of toys that might
have DINP in them if the interim
prohibition were lifted or to quantify the
effect that changes in DINP exposure
would have on the percentage of the
population (infants, pregnant women, or
WORA) with HI less than or equal to
one.
b. Comments Concerning ScenarioBased Exposure Assessment
Comment: Exposure through diet.
Commenters noted that diet is the
primary source of exposure to
phthalates for infants and children and
that children’s toys and child care
articles contribute very little to overall
phthalate exposures, especially for
women of reproductive age and fetuses.
They reasoned that, therefore, a
prohibition on phthalate-containing
children’s toys and child care articles
would have little effect on overall risk.
(Comment 5.3).
Response: CPSC disagrees that the
contribution from sources other than
diet are negligible, especially for DINP.
The scenario-based exposure assessment
in the CHAP report shows that
mouthing and dermal exposure to toys
could contribute an average of 12.8
percent, 5.4 percent, and 1 percent of
the overall DINP exposure to infants,
toddlers, and children, respectively, if
DINP were used in these products.
CHAP report at Appendix E1, Tables
E1–21, E1–22 and E1–23. Mouthing and
handling soft plastic teethers and toys
could contribute 12.8 percent (mean
exposure) or 16.6 percent (95th
percentile exposures) of total DINP
exposure in infants. Id. at Appendix E1,
Tables E1–21. Dermal contact with the
evaluated toys and child care articles
may contribute up to an additional 16.5
percent of exposures to infants. Id.
Therefore, although infants’ DINP
exposure was primarily from diet, up to
29 percent may be due to the presence
of DINP in the evaluated toys and child
care articles (Id. Figure 2.1).
Comment: Exposure through house
dust. One commenter noted that house
dust contributed to background
exposure, that DEHP was in 100 percent
of dust samples, that consumer products
and building materials were the source
of such dust, and that the EPA soil
screening levels for DEHP were
exceeded by the concentrations found.
(Comment 5.4).
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Response: The CHAP’s and staff’s
analyses considered exposures to house
dust. The CHAP’s exposure scenarios
estimated theoretical exposures from
house dust. The CHAP found that for
infants and toddlers, incidental
ingestion of household dust contributed
roughly 25 percent to the total BBP
exposure and 15 percent to total DEHP
exposure. For children, the CHAP found
that household dust contributed about
18 percent to DEHP exposures. CHAP
report at Appendix E1–35. Additionally,
because NHANES includes exposures
from all routes, the NHANES estimates
would have included the survey
individual’s exposures to household
dust.
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C. Risk Assessment
As the CPSIA directed, the CHAP
considered risks of phthalates in
combination and in isolation. The
CHAP conducted a cumulative risk
assessment to evaluate the effects of
multiple phthalates, specifically
phthalates known to cause MRDE and
other adverse effects on male fertility.
As explained in section III.C.3, the
CHAP used information from toxicity
studies concerning MRDE and human
biomonitoring studies to determine a
hazard quotient (HQ) for each phthalate
and the hazard index (HI) for each
individual in the two populations of
interest (pregnant women and children).
To assess risks of phthalates in
isolation, the CHAP used a margin of
exposure (MOE) approach.
For reasons discussed in sections
III.C.1 and IV.A.1. of this preamble, the
CHAP and CPSC have focused on
phthalates’ association with MRDE. The
CHAP’s and CPSC’s determination of
risk associated with the use of
phthalates in children’s toys and child
care articles is based on a cumulative
risk assessment that considers the
contribution that allowing
antiandrogenic phthalates to be used in
children’s toys and child care articles
would have on the overall cumulative
risk from phthalates. Relying on this
cumulative risk assessment, the
Commission determines that, to meet
the CPSIA’s criteria of reasonable
certainty of no harm and protection of
the health of children, it is necessary to
prohibit children’s toys and child care
articles containing concentrations of
more than 0.1 percent of the phthalates
that can cause MRDE (DINP, DIBP,
DPENP, DHEXP, and DCHP). In this
section, we discuss the cumulative risk
assessment and related comments. We
discuss each phthalate in section IV.D of
this preamble.
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1. Cumulative Risk Assessment
a. Summary
i. CHAP’s Analysis and NPR
A cumulative risk assessment
estimates the potential risk following
exposure to multiple ‘‘stressors,’’ in this
case, multiple phthalates. As discussed
in section III.C of this preamble, the
CHAP found, and CPSC agrees, that
certain phthalates cause male
reproductive developmental effects and
may appropriately be considered in a
cumulative risk assessment. CPSC
concludes that a cumulative risk
assessment is appropriate here because
evidence indicates that phthalates are
‘‘dose additive.’’ That is, for phthalates
that cause MRDE, the chemicals will act
together; the effects of one such
phthalate will add to the effects of
another such phthalate. As the CHAP
report explained, experimental studies
show the additive effects of phthalates
on MRDE.37 The CHAP also
demonstrated that the phthalates
included in the CHAP’s cumulative risk
assessment share a common mechanism
of action (primarily antiandrogenicity)
and affect the same target organ
(primarily the testes).
This rule is based on a cumulative
risk assessment that uses the
methodology employed by the CHAP,
along with exposure data from the most
recent NHANES data sets. The
cumulative risk assessment follows a
hazard index (HI) approach that is
commonly used for cumulative risk
assessments. The CHAP’s cumulative
risk assessment was consistent with the
recommendations of a National
Academy of Sciences report on
cumulative risk assessment of
phthalates. Cumulative risk assessment
of chemical mixtures has been an
established practice since the 1980s.
The CHAP introduced a minor
modification to the standard
methodology: The CHAP calculated
hazard indices for each individual
sampled in NHANES rather than the
more common HI approach of using
population percentiles from exposure
studies on a per-chemical basis. This
allowed the CHAP to calculate hazard
quotients (HQs) for each phthalate and
an HI for each individual in each study.
This avoids overestimating the risk for
individuals with higher than average
exposures, such as those at the 90th and
95th percentiles.
The CHAP calculated an HQ for each
phthalate using three sets of ‘‘potency
estimates of antiandrogenicity’’
(PEAAs). The PEAA is an estimate of
the exposure at which the risk of MRDE
is negligible. The CHAP estimated a
PEAA for each phthalate by dividing the
MRDE ‘‘antiandrogenic’’ point of
departure (POD; toxicity endpoint) by
an uncertainty factor (UF). The POD is
the lowest dose level at which an
adverse effect was seen. A UF is a
quantitative factor that is used to
account for uncertainties associated
with available data (e.g., interspecies,
intraspecies, database, and toxicity
uncertainties). The CHAP stated that it
used three sets of PEAAs to explore the
effect of different methodology (e.g.,
different uncertainty factors and PODs)
on cumulative risk estimates to
‘‘determine the sensitivity of the results
to the assumptions for PEAAs and the
total impact on the HI approach.’’ CHAP
report at p. 4. Each case brings a
different perspective to the risk
assessment. The CHAP report discusses
the three cases at pages 63–64. Case 1
was based on published, peer-reviewed
values using a study by Kortenkamp and
Faust.38 Case 2 was based on a relative
potency method with DEHP as the index
chemical, using multiple-dose studies of
in-vitro fetal testosterone production by
Hannas et al. (2011).39 For Case 3, the
CHAP derived new PEAA values after
considering all the available literature,
including studies such as Boberg et al.
(2011).40 As explained in response to
comments, CPSC staff concludes that
each of the three cases has certain
advantages, all three are appropriate,
and the risks resulting from the three
cases are quite similar.
The CHAP calculated HQs for each
phthalate by dividing the exposure by
the PEAA. The CHAP then calculated
the HI by summing the HQs for each
phthalate. If the HI is greater than one,
there may be concern for antiandrogenic
effects in the exposed population due to
cumulative effects of phthalates. As
explained previously, the CHAP used
2005/2006 NHANES data for exposure
estimates for pregnant women and
1999–2005 SFF data for exposure
estimates for mothers and infants. CPSC
staff subsequently repeated the CHAP’s
analysis using more recent NHANES
data. The CHAP found that pregnant
women had median HIs of about 0.1
(0.09 to 0.14), while the 95th percentile
HIs were about 5, depending on which
set of PEAAs was used. Roughly 10
percent of pregnant women had HIs
greater than one. CHAP report at Table
2.16. Infants had median HIs about 0.2,
while the 95th percentiles were between
38 Kortenkamp
37 Hannas
et al. (2012); (2011); Howdeshell et al.
(2007); (2016); (2008).
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and Faust (2010).
et al. (2011).
40 Boberg et al. (2011).
39 Hannas
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0.5 and 1.0. About 5 percent of infants
had HIs greater than one. Id.
The CHAP characterized the
distribution of the estimated HIs, by
reporting the central tendency measure
(statistical median 41) and the upper
percentiles (95th, and 99th). CHAP
report at Table 2.16. The CHAP’s
analysis showed that the median HIs for
NHANES pregnant women were less
than one (HIs of 0.09 to 0.14), but the
95th percentile HIs were greater than
one (HIs of 3.6 to 6.1). Staff notes that
the CHAP emphasized that an HI greater
than one is the metric that defines
excess exposure, relative to the
acceptable exposure level; the CHAP
did not indicate that the 95th percentile,
or any other part of the cumulative risk
distribution, should be used to establish
unacceptable risk for risk management
purposes. The CHAP, having
determined that an HI greater than one
was necessary to identify the population
at risk, then used the distribution of HIs
to identify the percentage of the
population with an estimated HI greater
than one. Staff notes that, while the
CHAP presented the distribution
statistics, described above, the CHAP
focused on the proportion of the
population with HIs exceeding one, not
on any particular percentile of the
distribution. To repeat, the CHAP
neither used nor suggested a specific
percentile as a threshold for
recommendations or regulatory
proposals.
The CHAP’s HI approach is consistent
with the CPSC’s chronic hazard
guidelines (Chronic Guidelines). The
Chronic Guidelines discuss a safety
factor approach to determine acceptable
risk for a reproductive or developmental
toxicant. 57 FR 46626, 46656 (Oct. 9,
1992). Under the safety factor approach,
one determines the acceptable daily
intake (ADI) for a substance by adding
a safety factor to the lowest no observed
effect level (NOEL) seen among relevant
studies. The Chronic Guidelines state
that if the hazard is ascertained from
human data, a factor of 10 is applied to
the NOEL, and if the hazard is
ascertained from animal data, a factor of
100 is applied. Id. Staff states that the
41 The median is the midpoint of the distribution,
where one-half of the values are smaller than (i.e.,
below) the median value, and one-half of the values
are larger than the median. The 95th percentile of
the distribution is the value indicating 95 percent
of values are smaller than this value, and 5 percent
of values are larger. The median and 95th percentile
values describe the data distribution, in this case
the HI values estimated for the population of
pregnant women or women of reproductive age who
experience phthalate exposures. These values, by
themselves, do not define acceptable risk levels.
Rather, the acceptable risk level is a policy
decision.
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safety factor approach is similar to the
HI approach that the CHAP followed.
The CHAP’s PEAA values are equivalent
to an ADI, and the HI is the ratio of the
daily exposure to the ADI. The Chronic
Guidelines do not define the percentage
of the population (i.e., number of
individuals versus the sample
population or entire population) that
must have an HI less than one to ensure
a ‘‘reasonable certainty of no harm . . .
with an adequate margin of safety.’’
As discussed in the NPR preamble,
based on the CHAP report, the
Commission proposed to prohibit
children’s toys and child care articles
containing the antiandrogenic
phthalates the CHAP had examined.
The NPR stated that the Commission
considers that an HI less than one is
necessary to ensure a reasonable
certainty of no harm to children,
pregnant women, or other susceptible
individuals with an adequate margin of
safety and to protect the health of
children. 79 FR at 78334. The NPR also
stated that the Commission considers
that an HI less than one is necessary to
protect the health of children. Id. at
78335.
In the NPR, the Commission stated
the CHAP’s determination that
approximately 10 percent of pregnant
women and 5 percent of infants had an
HI greater than one. The Commission
did not establish directly, however, that
there was a specific proportion of the
population that must have an HI less
than or equal to one to ensure a
‘‘reasonable certainty of no harm with
an adequate margin of safety’’ or to
‘‘protect the health of children.’’
ii. Analysis Using Most Recent Data
After publication of the NPR, CPSC
staff analyzed NHANES data for WORA
(from 2007 through 2014). CPSC staff
reports for 2015 and 2017; TAB A of
CPSC staff’s briefing package: Staff’s
analysis shows that the risk to WORA,
as indicated by HI, has decreased.
Median and 95th percentile HIs for
WORA are both less than one. Staff
estimates that between 98.8 and 99.6
percent of WORA have HIs less than or
equal to one. Out of a sample of 538
WORA in the 2013/2014 cycle, 99.5
percent of WORA have an HI less than
or equal to one when considering PEAA
Case 1 and 99.6 percent when
considering Case 3. For PEAA Case 2, an
estimated 98.85 percent of WORA have
an HI less than or equal to one in the
same cycle. See Tab A of staff’s briefing
package. This means that some
individual WORA in the NHANES
sample have an HI greater than one for
each PEAA case. Out of a sample of 538
WORA, for PEAA Case 1, three WORA
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had an HI greater than one; for PEAA
Case 2, nine WORA had an HI greater
than one; and for PEAA Case 3, two
WORA had an HI greater than one.
However, the national population
projection for HI greater than one is not
estimable at the upper percentiles of the
distribution due to sampling variability.
Thus, staff is unable to estimate the
percentage of WORA with an HI greater
than one in the population of
approximately 60 million WORA in the
United States.
As noted in Tab A of the staff’s
briefing package, the decreases in HI are
primarily due to decreases in DEHP
exposures. The HQ for DINP is replacing
the HQ for DEHP proportionally for
contributions to the total HI. In each
PEAA case, DINP has less potency than
DEHP; thus, even though DINP’s
proportion of contribution to total HI is
increasing, the values of HI have still
decreased overall across cycles.
CPSC does not have exposure data for
infants that is more recent than the SFF
data on which the CHAP relied. Because
the risk to WORA has declined since
2005/2006, it is possible that exposures
and risks to infants have also declined.
However, because the routes of
exposure (e.g., food, medicines,
products) are different for each target
population, it is not possible to quantify
the changes in one population based on
the other. As explained in section
IV.B.1, infants’ exposures generally are
two- to threefold greater than adults.
Thus, CPSC concludes that phthalate
exposures and risks in WORA probably
underestimate the risks to infants and
children.
CPSC’s assessment of the risk (and the
need for this rule) is also informed by
the fact that, although the overall risk as
portrayed in the cumulative risk
assessment has decreased, DINP’s
contribution to the cumulative risk has
greatly increased. It is not possible to
quantify accurately the number of toys
expected to have DINP or the effect of
changes in DINP exposure on the
percentage of the population (infants,
pregnant women, or WORA) with HI
less than or equal to one. However, any
increase in exposure due to resumed or
increased use of DINP in products is
likely to decrease the percentage of the
population with HI less than or equal to
one. Allowing DINP to be re-introduced
into children’s toys and child care
articles would open a pathway of
exposure to a phthalate that studies
have clearly demonstrated causes
adverse effects on male reproductive
development. Although DIBP, DPENP,
DHEXP, and DCHP are not currently
found in children’s toys and child care
articles (or only rarely), these phthalates
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also cause MRDE and contribute to the
cumulative risk.
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b. Comments on Cumulative Risk
i. Appropriateness of Conducting a
Cumulative Risk Assessment
Comment: General acceptance of
cumulative risk assessment.
Commenters asserted that cumulative
risk assessment is not a generally
accepted approach. They stated that
cumulative risk assessment is not
appropriate as a basis for regulatory
action, but only as a screening analysis.
However, another commenter noted that
‘‘when multiple phthalates act on a
similar biologic target, it is critical to
understand and regulate based on their
combined effect on human health.’’
(Comments 2.1 through 2.3).
Response: Cumulative risk assessment
is a well-established approach to
evaluate risks posed by mixtures of
multiple chemicals. EPA first issued
guidelines for the risk assessment of
chemical mixtures in 1986.
Subsequently, ATSDR and the World
Health Organization (WHO) issued
guidance for cumulative risk assessment
of chemical mixtures.42 EPA routinely
uses cumulative risk assessment to
assess risks from pesticides, as required
by the Food Quality Protection Act of
1996. Additionally, EPA and ATSDR
use cumulative risk assessment to assess
risks under Superfund.43 EPA also has
performed cumulative risk assessments,
to assess phthalates.44 The CHAP
followed guidance issued by the
National Academy of Science for
conducting cumulative risk assessments
with the one modification, explained
above, that allowed the CHAP to
calculate HQs for each phthalate and an
HI for each individual in the NHANES
and SFF studies. Regarding the assertion
that the CHAP’s cumulative risk
assessment was only a screening-level
analysis, CPSC concludes that the
CHAP’s analysis is a refined assessment
that could be considered tier 3, the
highest tier, under the framework
established by the WHO. The CHAP’s
CRA began with a comprehensive
review of the toxicology and exposure
literature. The primary exposure
assessment for the CHAP report was
based on measurements of phthalate
metabolites in a statistically
representative population (NHANES
study) of actual people. As required for
tier 3 assessments under the WHO
42 EPA (1986). EPA (2000b), ATSDR (2004), and
WHO (Meek et al. 2011).
43 ATSDR (2017; EPA (2017); Howdeshell et al.
(2016).
44 Christensen et al. (2014); Gallagher et al.
(2015).
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framework, the CHAP’s analysis
included probabilistic measurements of
exposure and risk.
Comment: Dose additivity. Several
commenters asserted that there was not
sufficient evidence of dose additivity,
especially at low doses, to conduct a
cumulative risk assessment for
phthalates. Some commenters asserted
that one needs a common mode or
mechanism of action to support an
assumption that phthalates are additive,
and they stated that evidence of a
common MOA was lacking.
Commenters stated that the CHAP had
not considered all the relevant papers
on dose additivity. (Comments 2.4
through 2.8).
Response: The CHAP did not need to
present evidence of a common MOA or
mechanism of action to justify
performing a cumulative risk
assessment because data from laboratory
studies by Hannas and Howdeshell
show that phthalate mixtures, in fact,
act in a cumulative, additive fashion.45
Thus, the CHAP did not have to make
any assumptions about additivity. In
fact, one of the reasons that the CHAP
chose MRDE as the health effect for its
CRA is that MRDE is the only health
endpoint that was extensively studied
in phthalate mixtures. CHAP report at p.
2. Moreover, even without a common
mechanism of action, chemicals can
have cumulative effects in mixtures.46
Substances can act on the same process,
but in different ways, to produce
additive effects. In any event, CPSC
concludes that evidence demonstrates
that the phthalates in the CRA do have
a common mechanism of action. As
discussed, the phthalates all act on the
male reproductive system. More
specifically, they act by inhibiting
testosterone production in the testis
during a critical period in development
by decreasing expression of genes
involved in steroid synthesis.47
Additional factors, such as reduced
expression of insulin-like hormone 3
gene (insl3), also are at work.48
Regarding low doses, studies of
phthalate mixtures at low doses do not
exist, and the commenters did not
present any evidence of a threshold for
phthalate-induced MRDE. Although
mixture studies at low (environmental)
doses have not been performed, there
are published studies in which the
45 Hannas et al. (2012); (2011); Howdeshell et al.
(2007); (2016); (2008).
46 Axelstad et al. (2014); Christiansen et al.
(2009); Howdeshell et al. (2016); Levin et al. (1987);
Rider et al. (2008; 2010; 2009).
47 Foster et al. (2001); Gray et al. (2000);
Mylchreest et al. (1998); Parks et al. (2000).
48 Foster (2005); Howdeshell et al. (2016); NRC
(2008); Wilson et al. (2004).
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doses of the individual phthalates
produced little or no effect, but the
mixtures produced significant
cumulative effects.49 In a recent study,
rats were exposed to phthalates and
other antiandrogens at doses well below
the NOAEL. Although the individual
phthalates had no observable effect, the
mixture induced MRDE-related
effects.50 Thus, additivity occurs even at
doses where individual phthalates have
no observable effect. As discussed in
response to comments 2.6 and 2.7, CPSC
concludes that the CHAP did consider
all relevant papers and that dose
addition is appropriate for assessing the
cumulative effects of phthalates and
other antiandrogens.
Comment: Mode or mechanism of
action. Commenters asserted that the
mechanism of action by which
phthalates affect male reproductive
development is not clear. They argued
that, in the absence of clarity that
phthalates share a common mechanism
of action, the CHAP should not conduct
a cumulative risk assessment. Some
commenters focused particularly on
DINP, asserting that DINP does not have
the same mode or mechanism of action
as other phthalates. (Comments 1.21
through 1.25).
Response: Knowledge of the mode or
mechanism of action can help inform
the risk assessment process. However, a
detailed understanding of the mode/
mechanism of action is never required
to perform a risk assessment. Several
studies have shown that the phthalates
act by inhibiting testosterone
production in the testis during any
critical period in development,51 by
decreasing expression of genes involved
in steroid synthesis. Reduced
expression of insulin-like hormone 3
gene (insl3) is an additional pathway.52
Furthermore, all of the phthalates in the
cumulative risk assessment induce a
similar spectrum of effects, known as
the ‘‘phthalate syndrome,’’ and which is
also described as ‘‘antiandrogenic’’
effects. DINP has been clearly
established by multiple studies as
causing the same pattern of effects
(phthalate syndrome) 53 and by other
studies as acting by the same MOA as
other phthalates in the cumulative risk
49 Axelstad et al. (2014); Christiansen et al.
(2010); Hotchkiss et al. (2004); Howdeshell et al.
(2007); (2016); Rider et al. (2010).
50 Conley et al. (2017).
51 Foster et al. (2001); Gray et al. (2000);
Mylchreest et al. (1998); Parks et al. (2000).
52 Foster (2005), Howdeshell et al. (2016), NRC
(2008), and Wilson et al. (2004).
53 Adamsson et al. (2009); Boberg et al. (2011);
Clewell et al. (2013b); Gray et al. (2000); Hannas et
al. (2011); Masutomi et al. (2003).
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assessment.54 Other experts agree that
the phthalates in the CHAP’s
cumulative risk assessment act by the
same mechanism of action.55 Staff also
notes that mixtures studies including
DINP show that the effects of DINP and
other phthalates are additive.56
Therefore, a common mechanism of
action is not necessary to include DINP
in the cumulative risk assessment.
Comment: Inclusion of permanently
prohibited phthalates in CRA.
Commenters asserted that it was not
appropriate for the CHAP to include
DEHP and other phthalates that are
subject to CPSIA’s permanent
prohibition in the CHAP’s cumulative
risk assessment. Commenters asserted
that nearly all of the risk in the CHAP’s
cumulative risk assessment is due to
exposures to those phthalates, yet they
can no longer contribute to the
cumulative risk from exposure to
children’s products. At least one
commenter stated that if the cumulative
risk assessment excluded phthalates
subject to the CPSIA’s permanent
prohibition, the HI would be less than
one. The commenter reasoned that,
therefore, there is a reasonable certainty
of no harm from the use of any other
phthalates in children’s products. Thus,
the statutory requirement to ‘‘ensure a
reasonable certainty of no harm to
children, pregnant women, or other
susceptible individuals with an
adequate margin of safety’’ is satisfied
without continuing the interim
prohibition. Another commenter stated
that a cumulative risk assessment is
useful when exposure to each single
substance is below the level of concern,
but exposures to multiple chemicals
with the same mechanism of action (or
that affect the same endpoint) at the
same time rise to levels of concern.
However, the commenter asserted, with
phthalates, only one chemical (DEHP)
poses a risk in isolation. (Comments 2.9
and 5.2).
Response: In accordance with
direction in the CPSIA, the CHAP
examined phthalates in isolation and in
combination with other phthalates. 15
U.S.C. 2057c(b)(2)(B)(ii). Moreover, to
accurately assess cumulative risk, it was
appropriate for the CHAP to include
DEHP (and other phthalate subject to
CPSIA’s permanent prohibition).
Although DEHP is not allowed in
children’s toys and child care articles, it
is permitted in other products. DEHP is
found in drinking water, surface water,
storm water, soil, and wildlife.57 It is
found in indoor and outdoor air,
household dust, and indoor surfaces.
DEHP has been found in gloves,
footwear, personal care products,
medical devices, paints, adhesives,
sealants, wallpaper, flooring and food.
Thus, given the number and variety of
sources of exposure, DEHP should be
included in the cumulative risk
assessment. The results of staff’s
cumulative risk assessment using more
recent NHANES data, show that, even
though exposure to DEHP is decreasing,
phthalate exposures are still high
enough that some women in the data
sample have HIs exceeding one. The
CHAP’s and staff’s analyses indicate
that risk is not entirely driven by DEHP.
Considering 2013/2014 NHANES data,
DINP contributes approximately 6 to 51
percent (medians) or 18 to 76 percent
(95th percentiles) of the overall risk. See
TAB A of staff’s briefing package.
ii. NHANES Data in the Cumulative
Risk Assessment
Comment: Using the CRA to assess
individual’s risk. Some commenters
asserted that calculating risk using
NHANES data (that uses spot urine
sampling rather than measurements
over time) is not an accurate indication
of a person’s real exposure to phthalates
and thus the CHAP’s HI calculations do
not show true risk. They asserted it is
inappropriate and not scientifically
supportable to report results as a
proportion of the population with an HI
over one (because the individual spot
urine samples are too variable and do
not represent chronic exposures over
time). For example, one commenter
stated that an individual’s HI from a
spot urine sample ‘‘has essentially no
bearing on risk to the individual’’
because it does not represent a repeat
dose, longer term exposure is necessary
to induce the adverse effects (phthalate
syndrome) and that a few HIs (or HQs
such as DINP) above one also are not
representative of the population risk.
Commenters thought that this approach
was overly conservative and
overestimated the risk. (Comments 3.11
through 3.13).
Response: Staff concurs that spot
urine samples are variable and are not
representative of long-term exposures,
but also notes that numerous studies in
animals have demonstrated that MRDE
and related effects can occur after one
or a few doses.58 It is impossible to
57 Clark
54 Gray
et al. (2000); Hannas et al. (2011).
55 Foster (2005); Howdeshell et al. (2016); NRC
(2008).
56 Hannas et al. (2012); (2011); Howdeshell et al.
(2007); (2016); (2008).
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(2009); Versar (2010).
et al. (1987); Jones et al. (1993); Saitoh
et al. (1997); Saillenfait et al. (1998); Gray et al.
(1999); Parks et al. (2000); Li et al. (2000);
Thompson et al. (2004); Carruthers and Foster
(2005); Thompson et al. (2005); Ferrara et al. (2006);
58 Creasy
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know whether a particular spot urine
sample is overpredicting or
underpredicting the actual exposure.
HBM data are a direct measure of
human exposure and, therefore,
superior to alternatives such as modeled
exposures. NHANES is a high quality
study and provided exposure data that
are representative of the U.S.
population. Similar data with 24-hour
or longer sampling times are not
available.
Staff concludes that it is statistically
appropriate to portray the individual
NHANES data as a proportion of the
NHANES sample population with an HI
less than or equal to one. Staff notes that
in the 2013/2014 NHANES sample of
538 WORA (of approximately 60 million
WORA in the U.S. population), there
were from two to nine individuals with
a HI greater than one (i.e., at risk),
depending on the PEAA case. As
described in section 5.4 of TAB A of
staff’s briefing package, the 2013/2014
NHANES data set cannot be used to
estimate how many WORA in the U.S.
population have HIs greater than one.
Comment: Impact of more recent
NHANES data on CRA. Several
commenters stated that CPSC staff’s
analysis of more recent NHANES data
shows that the risk from phthalates has
declined. Commenters noted that that
even at the 95th percentile, the HI is
uniformly less than one and has
decreased further from the HI values
calculated for the 2011/2012 data cycle.
They concluded that the CRA using
current exposure data shows that there
is a reasonable certainty of no harm.
Thus, the statutory requirement is
satisfied without Commission action.
(Comment 3.2).
Response: The CRA using current
exposure data indicates that at least
some of the actual WORA in the
NHANES data had HIs greater than one,
showing that there is not a reasonable
certainty of no harm with an adequate
margin of safety. Moreover, the CHAP
did not indicate that the 95th percentile,
or any other part of the cumulative risk
distribution, should be used to establish
unacceptable risk. Therefore,
discussions of acceptable risk should
not be limited to the 95th or other
percentile. Staff concurs with
commenters that through the NHANES
cycles, the population of WORA with an
HI greater than one has decreased. In the
2013/14 NHANES sample of 538
WORA, there were from two to nine
actual women from the NHANES
sample with a HI greater than one (i.e.,
at risk), depending on the PEAA case.
Hannas et al. (2011); Jobling et al. (2011); Spade et
al. (2015).
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The 2013/2014 NHANES data cannot be
used to estimate how many WORA in
the U.S. population have HIs greater
than one.
Comment: Use of values above the
95th percentile. A commenter on the
2017 staff report asserted that it is
‘‘scientifically inappropriate to go above
the 95th percentile in evaluating either
individual or cumulative risks to the
fetuses of women of reproductive age as
indicated by the CRA.’’ The commenter
stated that going above the 95th
percentile values are too unstable to
provide a basis for regulatory decisions.
The commenter noted that EPA’s 2014
paper on five phthalates reported the
95th percentile from the calculations of
HIs for three of the five phthalates (and
the CHAP and CPSC’s previous analyses
used the 95th percentile). (Comment
3.21).
Response: Neither the CHAP nor staff
used the 95th percentile (or any other
percentile) as a threshold for
recommendations or regulatory
proposals in evaluating individual or
cumulative risks. The 95th percentile, as
well as other measures such as the
average, median, or 99th percentile, is a
commonly used metric, included by the
CHAP, to help characterize the
distribution of exposure and risk in a
population. The rule is not based on any
particular percentile, but on the
observation that actual women from the
NHANES sample have HIs greater than
one.
For its cumulative risk assessment,
the CHAP addressed the range of HI in
representative populations—including
but not limited to the 50th percentile,
95th percentile, and 99th percentile. In
all analyses of the updated NHANES
data for WORA and in the rule, staff
does not rely on any particular
percentile as a threshold for
recommendations or regulatory
proposals, but on the fact that at least
some of the actual WORA from the
NHANES samples had HIs greater than
one. Because at least some of the actual
WORA from the NHANES samples had
HIs greater than one in every NHANES
data cycle analyzed, there is not a
reasonable certainty of no harm with an
adequate margin of safety. For example,
for the 2013–14 NHANES data, between
two and nine real women from the
sample of 538 WORAs had an HI greater
than one, depending on the case model
used. The CHAP emphasized, and the
Commission continues to agree, that an
HI greater than one is the metric that
defines excess exposure.
CPSC disagrees with the blanket
statement that it is scientifically
inappropriate to go above the 95th
percentile in interpreting a cumulative
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risk assessment. There is no scientific
basis for an assertion that the 95th
percentile of a distribution is the largest
value that can be considered. The
commenter specified that the values
above the 95th percentile are unstable.
In this case, staff agrees that the values
associated with the upper tail of the
distribution of HIs (e.g., above the 95th
percentile) have large variance
estimates, due to sample size (i.e.,
statistically unstable). The large
variances mean that we are precluded
from estimating the precise number of
WORA with HIs greater than one in the
larger population from which the
sample was selected. However, as noted
above, actual women with HIs greater
than one were observed in every
NHANES data cycle analyzed. As the
commenter mentioned, EPA’s paper
(Christensen et al. (2014)) states, ‘‘we
present findings for the 95th percentile
of estimated phthalate intake
recognizing that there may be more
variability in these values, because this
information provides insight into the
potential risk at the highest levels of
exposure in a general population
setting.’’ Staff considers EPA’s
discussion to be consistent with the
CHAP’s and staff’s presentation of
results because the goal is to provide
insight into the risks among the most
highly exposed individuals. The
CHAP’s and staff’s analyses are based on
human biomonitoring, i.e., actual
observations of people. These
observations should be considered in
risk management and decision-making.
iii. The Three Cases
Comment: Criticism of the three cases
(PEAAs) the CHAP used. Commenters
raised concerns about all three of the
CHAP’s cases. Some commenters
asserted that the cases inappropriately
combined points of departure (PODs) for
different types of endpoints (for
example, reduced testosterone
production, observation of MNGs, and
retained nipples) for different effect
measures. Commenters stated that the
cases had treated transient, non-adverse
biomarkers in the same way as adverse
effects when selecting PODs.
(Comments 4.1 through 4.3 and 4.6).
Response: We discuss the major
criticisms of the specific cases in the
following comment/responses. As
discussed in the section on MRDE, a
wide variety of effects of different types
and severities are included under the
umbrella of phthalate syndrome. Staff
disagrees with commenters’ assertions
that these effects cannot be considered
equal when selecting PODs. Any
observed effect related to the male
reproductive system is a marker of
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biological activity that could lead to a
broad range of effects in the organism.
Thus, such markers should be given
equal weight in quantifying the
biological activity.
Comment: Case 1. Commenters
criticized the study that was the basis
for Case 1 (Kortenkamp and Faust),
which calculated a potency estimate
based on a lowest observed adverse
effect level (LOAEL) rather than a no
observed adverse effect level (NOAEL)
which the commenters stated
introduced greater uncertainties.
Commenters also asserted that the
publication of more robust studies since
2010 (e.g., Boberg) indicating that the
Case 1 PEAAs were overstated by a
factor of 4 made Case 1 outdated.
Commenters also criticized the use of
larger uncertainty factors (UFs) for some
phthalates. (Comments 4.7 and 4.8).
Response: CPSC agrees that more
recent literature has been published
regarding the selection of PODs and UFs
for phthalates that cause phthalate
syndrome. However, this does not mean
that Case 1 should be excluded. Rather,
alternate approaches (such as Case 1) to
POD selection are useful to understand
the potential effects of POD and UF
selection on risk. Notably, the CHAP
considered all relevant hazard studies
(including those cited by the
commenters) in its de novo review of
the literature for Case 3.
Comment: Case 2. Commenters
criticized various aspects of Case 2 and
the study underlying it, (Hannas et al.
(2011)). Several commenters asserted
that CPSC should completely disregard
Case 2. They asserted that Case 2 was
based on a model that used a
hypothetical NOEL for DINP and that
the CHAP did not validate the
assumptions in the model. The
commenters stated that, because ‘‘real
world data’’ exist that are more
applicable and reliable, CPSC should
not use Case 2. Commenters asserted
that relative potency of DINP and DEHP
was inappropriately estimated. For
example, a commenter stated that an in
vivo study (i.e., using live animals) by
Gray et al. (2000) had previously
estimated that DEHP is 10–20 times
more active than DINP, so the CHAP
should not have used Case 2’s estimate
that DEHP is 2.3 times more active than
DINP. A commenter asserted that the
study underlying Case 2 (Hannas et al.
(2011)) has several flaws and
limitations, such as the rats were
obtained from different labs, doseresponse curves for DINP and DEHP
were different, and the study used a low
number of animals per group.
(Comments 4.9 through 4.13).
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Response: The CHAP established
alternate approaches (such as Case 2) to
POD selection that are useful in
understanding the potential effects of
POD and UF selection on risk. By
stating that Case 2 was based on a
model, commenters imply that Hannas
et al. (2011) was not an in vivo study.
However, Hannas et al. did expose live
animals to phthalates. Measurements of
the rate of testosterone synthesis were,
by necessity, made in a biochemical
assay (in vitro study) using tissue
obtained from the animals. The CHAP’s
use of a study that included observation
of effects from exposure both to DINP
and DEHP allowed a direct comparison
of the relative potencies of different
phthalates because multiple phthalates
were tested in the same laboratory using
the same methods. This is the unique
advantage of Case 2. Staff considers the
estimation of relative potency in Hannas
et al. (2011) to be valid and notes that
substantially similar methods have been
used in the estimation of relative
potency.59 Moreover, a 2009 review
study estimated that DINP is 2.6 times
less potent than DEHP.60 This estimate
is closer to the Hannas et al study
underlying Case 2 than to the Gray
study mentioned by commenters.
Regarding other alleged flaws in the
Hannas et al. study, staff agrees that the
rats used to study DEHP and DINP were
obtained from different suppliers (as
noted by Hannas et al.) and that control
testosterone production was different
for each group of rats (also identified in
the publication). However, the study
adequately controlled for these
differences. Staff also concludes that the
number of animals per dose group was
appropriate.
Comment: Case 3. Commenters
generally preferred Case 3. Some stated
that the CHAP should have relied only
on Case 3 in its cumulative risk
assessment. However, some commenters
had criticisms of Case 3. One
commenter asserted that the POD for
DINP was inadequately justified. A
commenter characterized Case 3 as
‘‘muddled’’ and noted inconsistencies
in how the CHAP discussed the NOEL
for DINP. Comments questioned
whether multi-nucleated gonocytes
(MNGs), which are the basis of Case 3’s
point of departure for DINP, are relevant
to antiandrogenicity and whether MNGs
are an adverse effect. A comment
questioned the choice of 50mg/kg/day
as the POD for DINP, asserting that it is
too conservative. (Comments 4.15
through 4.17).
59 Furr
et al. (2014).
(2009).
60 Benson
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Response: For Case 3, the CHAP
derived PEAAs for each phthalate based
on the CHAP’s own literature review
considering all published peer reviewed
studies on each phthalate. The CHAP
considered studies by Clewell et al.
(2013a, 2013b), Hannas et al. (2011),
and Boberg et al. (2011) as most relevant
and highest quality for identifying a
NOAEL for DINP. CHAP report at pp.
97–98. The CHAP found that the lowest
no effect level seen in these studies was
50 mg/kg-day based on observance of
MNGs in the Clewell study. As the
CHAP noted, this was a conservative
estimate. It is common practice in risk
assessment to select the most
conservative health endpoint (from
quality data sets) when performing a
hazard assessment.61 Although MNG
formation is not directly linked to
changes in testosterone production, and
not necessarily a direct antiandrogenic
effect of phthalate exposure, MNGs are
a characteristic effect routinely observed
in phthalate syndrome.62 Thus, the
observation of MNGs formed after DINP
exposure is consistent with the
occurrence of MNGs associated with
exposure to other active phthalates and
is a marker of phthalates’ effects in the
developing male reproductive system.
Although MNGs might not be an
adverse effect, finding MNGs following
DINP exposure supports that DINP has
a biological effect similar to the other
active phthalates. Staff concludes that
the CHAP’s assignment of the NOAEL
for DINP at 50 mg/kg-day based on the
observation of MNGs, is reasonable.
2. Risk in Isolation
In accordance with the CPSIA’s
direction, the CHAP also considered the
risk of phthalates individually. 15
U.S.C. 2057c(b)(2)(B)(ii). As discussed
in section III.C.3.b, to do this, the CHAP
used an MOE approach. The CHAP
chose this approach, in part, due to the
recommendation of a NRC report on risk
assessment methodology.63 Like the HI
approach, the MOE is also widely
accepted. Id. The MOE is the ‘‘no
observed adverse effect level’’ (NOAEL)
of the most sensitive endpoint in animal
studies divided by the estimated
exposure in humans. Higher MOEs
indicate lower risks. Generally, MoEs
greater than 100 to 1,000 are adequate
to protect public health. CHAP report at
pp. 20 and 69. The MOE approach is
conceptually similar to the CPSC staff’s
default approach in CPSC’s Chronic
61 Barnes and Dourson (1988); CPSC (1992); EPA
(1991).
62 NRC (2008), Howdeshell (2016), and Gaido
(2007).
63 NRC (2009).
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Hazard Guidelines for assessing noncancer risks,64 and would lead to similar
conclusions about risk. We discuss the
MOE for each phthalate the CHAP
examined in section IV.D of this
preamble, and we discuss comments
concerning risks in isolation in that
section as well.
D. Assessments/Determination for Each
Phthalate
The CHAP assessed and made
recommendations concerning each of
the phthalates that it examined. CHAP
report at pp. 82–121. Based on the
CHAP report, CPSC staff’s assessment,
public comments on the NPR and staff’s
NHANES reports, the Commission
issues this rule prohibiting children’s
toys and child care articles that contain
concentrations of more than 0.1 percent
of DINP, DIBP, DPENP, DHEXP, and
DCHP. The Commission concludes that,
based on the best available scientific
data, all of these phthalates cause MRDE
and all contribute to the cumulative
risk. Previous sections of this preamble
have discussed the health effect of
MRDE, exposure to phthalates, and the
risk assessment for these phthalates.
This section presents the Commission’s
evaluation of each of the phthalates
covered under this regulation.
1. Phthalates Subject to the Interim
Prohibition
The CPSIA established an interim
prohibition on children’s toys that can
be placed in a child’s mouth and child
care articles that contain concentrations
of more than 0.1 percent of DINP, DIDP,
and DNOP. 15 U.S.C. 2057c (b)(1). The
CPSIA directs the Commission to
determine, based on the CHAP report,
whether to continue in effect the interim
prohibitions on children’s toys that can
be placed in a child’s mouth and child
care articles containing DINP, DIDP, and
DNOP ‘‘to ensure a reasonable certainty
of no harm to children, pregnant
women, or other susceptible individuals
with an adequate margin of safety.’’
Thus, for each of these phthalates, the
Commission must decide whether it is
appropriate to make the interim
prohibitions permanent under the
statutory criteria.
As explained in the preamble to the
NPR and above, for phthalates causing
MRDE, the Commission considered the
cumulative risk, which was based on
the CHAP’s HI estimates. Consistent
with the CHAP report, the Commission
considers that the acceptable risk is
exceeded when the HI is greater than
one. This is also consistent with the
CPSC’s chronic hazard guidelines. 57
64 57
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FR 46626 (Oct. 9, 1992). The CPSC’s
chronic hazard guidelines consider the
‘‘acceptable risk’’ for a reproductive or
developmental toxicant to be equivalent
to an exposure equal to or less than the
‘‘acceptable daily intake’’ (ADI), that is,
an HI 65 of less than or equal to one for
the population affected by the toxicant.
Thus, the Commission considers that an
HI less than or equal to one is necessary
‘‘to ensure a reasonable certainty of no
harm to children, pregnant women, or
other susceptible individuals with an
adequate margin of safety.’’ The chronic
hazard guidelines do not define the
percentage of the population (i.e.,
number of individuals versus the
sample population or entire population)
that must have an HI less than one in
order to ensure a ‘‘reasonable certainty
of no harm . . . with an adequate margin
of safety.’’
In the NPR, the Commission proposed
to prohibit children’s toys and child
care articles containing more than 0.1
percent of DINP, DCHP, DHEXP, and
DPENP based on the CHAP’s
determination that approximately 10
percent of pregnant women and
5 percent of infants had an HI greater
than one. 79 FR at 78334–35. Thus, in
issuing the NPR, the Commission
concluded that the proportion of
populations not affected by cumulative
exposure to phthalates (at least 90
percent of pregnant women and 95
percent of infants) did not meet the
standard of ‘‘a reasonable certainty of no
harm with an adequate margin of
safety.’’ The Commission did not
establish directly, however, that there
was a specific proportion of the
population that must have an HI less
than or equal to one to ensure a
‘‘reasonable certainty of no harm with
an adequate margin of safety’’ or to
‘‘protect the health of children.’’
Staff’s analysis of the most recent
NHANES data showed that exposures to
phthalates have changed. Using the
CHAP’s cumulative risk assessment
methodology and the most recent
NHANES data, staff has determined that
between 98.8 and 99.6 percent of WORA
(2013/2014 NHANES) had an HI less
than or equal to one. As in previous
NHANES data cycles, some individuals
in the 2013/2014 NHANES data set still
have an HI greater than one. Depending
on the PEAA case used for analysis,
between two and nine of the
approximately 538 WORA in the
NHANES 2013/2014 data sample had an
65 HI
is the ratio of the daily exposure to the ADI.
The CHAP’s PEAA values are equivalent to an ADI,
EPA reference dose (RfD), ATSDR minimal risk
level (MRL), or similar terms used by other
agencies.
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HI of greater than one.66 Thus, a portion
of WORA is exposed to phthalates at
levels that can induce MRDE or other
phthalate syndrome effects. For nonantiandrogenic phthalates (i.e., those
that do not cause MRDE), the
Commission considered the MOE, as
estimated by the CHAP to assess risk. As
mentioned previously, MOEs greater
than 100–1,000 are generally considered
adequate to protect human health. Thus,
the Commission considers a MOE of 100
or greater to be necessary ‘‘to ensure a
reasonable certainty of no harm to
children, pregnant women, or other
susceptible individuals with an
adequate margin of safety’’ or to
‘‘protect the health of children.’’
a. Diisononyl phthalate (DINP)
i. Summary
The CHAP recommended that ‘‘the
interim prohibition on the use of DINP
in children’s toys and child care articles
at levels greater than 0.1 percent be
made permanent.’’ CHAP report at p. 99.
The CHAP stated that it made this
recommendation ‘‘because DINP does
induce antiandrogenic effects in
animals, although at levels below that
for other active phthalates, and
therefore, can contribute to the
cumulative risk from other
antiandrogenic phthalates.’’ Id. As
discussed in section III.C.4.a. of this
preamble, the CHAP cited multiple
published studies that showed
antiandrogenic effects after DINP
exposure in rats. Id. at 96–97. DINP is
less potent, by perhaps two- to 10-fold,
than DEHP.67 However, DINP
contributes to the cumulative risk from
all antiandrogenic phthalates. The
CHAP found that 10 percent of pregnant
women and up to 5 percent of infants
have a HI greater than one based on data
at that time.
CPSC staff examined more recent
NHANES data than the dataset the
CHAP considered. Using the CHAP’s
methodology and the 2013/2014
NHANES exposure data, CPSC staff
determined that approximately 99
percent of WORA in the U.S. population
now have an HI less than or equal to one
(using the 2005/2006 NHANES data, 97
percent of WORA had an HI less than
or equal to one). Additionally, CPSC
staff’s evaluation of recent NHANES
data shows that exposure to DINP has
increased approximately five-fold since
66 The NHANES data was analyzed using 3
methods (Cases 1–3) For Case 1, three WORA had
HIs greater than 1. For Case 2, nine WORA had HIs
greater than 1. For Case 3, two WORA had HIs
greater than 1.
67 Gray et al. (2000); Hannas et al. (2011b).
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49963
2005/2006. DINP now contributes as
much to the cumulative risk as DEHP.
As shown by the scenario-based
exposure assessment included in
Appendix E–1 of the CHAP report,
lifting the interim prohibition on
children’s toys that can be placed in the
mouth and child care articles containing
more than 0.1 percent DINP could
increase exposure to DINP from these
products, compared to exposures if
DINP is not allowed in these products.
If DINP were used in all of the products
that were included in the scenario-based
exposure assessment, DINP exposure
from children’s toys and child care
articles could account for up to about 29
percent of infants’ total DINP exposure
from all evaluated sources. Staff does
not know the extent to which
manufacturers would return to using
DINP in children’s toys and child care
articles if the interim prohibition were
lifted. Staff is also unable to quantify the
impact of increased DINP exposure on
the percent of WORA or infants that
have an HI less than or equal to one.
However, staff notes that increased
exposure will increase the MRDE risk to
the population.
The CHAP also assessed the risks of
DINP in isolation and found that the
MOEs ranged from 830 to 1,500. CHAP
report at pp. 95–99. As discussed
previously, MOEs of at least 100 are
adequate to protect public health. CPSC
agrees with the CHAP’s analysis that the
MOEs for DINP in isolation, did not
present a risk. However, DINP exposure
has been increasing since the CHAP
completed its analysis. Current analysis
suggests that DINP MOEs, in isolation,
(e.g., the MOE is now 220 to 14,000 at
the 95th percentile) are below the upper
limit, and are nearing the lower limit
considered adequate for protecting
public health. Based on the CHAP’s
analysis and staff’s analysis of more
recent NHANES data (and after
consideration of the comments
discussed below), the Commission
determines that continuing the interim
prohibition concerning DINP is
necessary to ensure a reasonable
certainty of no harm to children,
pregnant women, or other susceptible
individuals with an adequate margin of
safety.
The Commission proposed to expand
the scope of the restriction on DINP’s
use so that the rule would prohibit all
children’s toys and child care articles
containing DINP rather than only
children’s toys that can be placed in a
child’s mouth and child care articles. 79
FR at 78335. Likewise, the final rule
prohibits all children’s toys and child
care articles containing concentrations
of more than 0.1 percent of DINP. The
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Commission determines that this
expansion of scope is necessary to
protect the health of children. Covering
all children’s toys means that the rule
will protect against exposure to DINP
through dermal contact (through the
skin from handling toys), indirect oral
exposure from children handling a toy
and then placing their hands in their
mouths, and all mouthing behavior. The
CHAP’s estimates of oral exposure from
mouthing toys included any behavior in
which the toy contacts the mouth.
CHAP report at Appendix E. However,
the interim prohibition covers only toys
that can be placed in a child’s mouth.
The CPSIA provides the following
definition of ‘‘toy that can be placed in
a child’s mouth’’:
For purposes of this section a toy can be
placed in a child’s mouth if any part of the
toy can actually be brought to the mouth and
kept in the mouth by a child so that it can
be sucked and chewed. If the children’s
product can only be licked, it is not regarded
as able to be placed in the mouth. If a toy
or part of a toy in one dimension is smaller
than 5 centimeters, it can be placed in the
mouth.
asabaliauskas on DSKBBXCHB2PROD with RULES
15 U.S.C. 2057c(g)(2)(B). Thus,
continuing the interim prohibition with
regard to DINP without expanding the
scope would exclude toys that are
5 centimeters or larger in one dimension
(or have parts 5 centimeters or larger)
even though children may be exposed to
phthalates from licking or otherwise
contacting the toy with the lips and
tongue. Additionally, although staff
does not have exposure estimates for
indirect oral exposure from handling
toys and normal hand-to-mouth
behavior, staff concludes that exposures
from handling toys will further
contribute to the cumulative risk. Based
on the analysis provided in Appendix E
of the CHAP report, the Commission
believes that the rule should encompass
any behavior in which the toy contacts
the mouth because this behavior
provides a pathway of exposure to
antiandrogenic phthalates.
ii. Comments Concerning DINP
As noted in section IV.A, commenters
presented numerous arguments
questioning whether phthalates are
antiandrogenic, i.e., cause MRDE, and
about the cumulative risk assessment.
This section discusses the comments
that focused on DINP.
(a) Health Effects of DINP Exposure
Comment: DINP and MRDE.
Numerous commenters questioned
whether DINP is antiandrogenic, that is,
whether it causes MRDE. Commenters
asserted that studies do not consistently
show that DINP induces the effects
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associated with rat phthalate syndrome
(e.g., decreased fetal testosterone,
changes in anogenital distance, nipple
retention, reproductive tract
malformation, decreased sperm
production). They cited numerous
studies to support their assertions that
DINP is not antiandrogenic and they
stated that, for these reasons, the CHAP
should not have included DINP in the
cumulative risk assessment. However
another commenter supported the
inclusion of DINP in the cumulative risk
assessment because DINP is
antiandrogenic. (Comment 1.14).
Response: The CHAP found, and
CPSC agrees, that DINP-induced effects
are consistent with phthalate syndrome
in rats. Clewell et al. found changes in
testosterone, nipple retention, and AGD,
among other observations, by multiple
laboratories, which indicate that DINP
exposure is associated with outcomes
similar to the effects of other phthalates
such as DEHP and DBP that cause
MRDE; these findings support the
conclusion that DINP causes phthalate
syndrome. CHAP report at pp. 97–98.
CPSC’s conclusions are based on the
weight of the evidence from review of
multiple studies (discussed in comment
responses 1.15 to 1.20). Phthalate
syndrome is a spectrum of effects and
thus one does not expect to observe all
phthalate syndrome effects in all
studies. The CHAP noted that effects of
the phthalates it evaluated were doserelated. CHAP report at p. 2.
Although DINP is less potent than
other antiandrogenic phthalates, DINP
can contribute to the cumulative risk
from other phthalates. DINP has similar
effects as other antiandrogenic
phthalates, and thus is considered
antiandrogenic in the context of the
cumulative risk assessment. CPSC
concludes that because DINP causes
phthalate syndrome, it was appropriate
for the CHAP to include DINP in its
cumulative risk assessment and for the
Commission to prohibit children’s toys
and child care articles containing DINP.
Comment: DINP and effects on
testosterone production. Some
commenters stated that studies showed
inconsistent results regarding the effect
of DINP on the production of
testosterone and that this indicates
DINP does not induce rat phthalate
syndrome. (Comment 1.15).
Response: As the commenters
recognize, some studies do show
reductions in testosterone following
DINP exposure.68 CPSC staff agrees that
some studies (e.g., Clewell et al.
(2013a);(2013b)) involving repeated
measurements over time have not
shown permanent or persistent changes
in testosterone. Sometimes this was due
to differences in study design. However,
permanent or persistent changes in
testosterone are not required to have an
adverse impact on male reproductive
development; rather, transient
reductions in the rate of testosterone
synthesis at the critical period of
development do have permanent effects
(e.g., structural, functional) on male
reproductive organs.69 Furthermore,
staff agrees with the study by Hannas et
al., showing that the rate of testosterone
synthesis, rather than plasma or
testicular levels, is the most relevant
measure of phthalate-induced effects on
testosterone.70 Additionally,
testosterone measurements made after
dosing lab animals with DINP has ended
do not account for the possible effects
of ongoing exposure, as could be
expected for humans with exposures
occurring after birth from food, water, or
contact with consumer products. Staff
notes that its conclusions are consistent
with findings from a recent NAS
systematic review of the DINP scientific
literature.71 In that review study, the
authors asserted with high confidence
that DINP could be considered a
‘‘presumed human hazard’’ because of
its potential to reduce testosterone in
male fetal rats.
Comment: Effect of DINP on
anogenital distance. Some commenters
cited studies showing little or no effect
on anogenital distance (AGD, i.e., the
distance from the anus to the genitalia)
after dosing with DINP. They asserted
that these studies show DINP does not
induce phthalate syndrome. A
commenter questioned the results of one
study where a significant decrease in
AGD was observed, because of the very
small differences between the treated
and control groups. (Comment 1.16).
Response: Reduced AGD is one of the
abnormalities that characterizes rat
phthalate syndrome. CHAP report at pp.
1–2. The commenter questioned the
AGD reductions observed in the Boberg
et al. (2011) and Clewell et al. (2013b)
studies; however, these results were
actually larger than the magnitude
considered by the commenter as
unlikely to be biologically significant.
Overall, the weight of evidence in the
studies cited by the commenter
demonstrates that DINP causes
permanent effects on male reproduction.
Thus, the commenter’s contention
regarding a transient nature of DINP’s
effects on AGD conflicts with the body
69 Hannas
68 Boberg
et al. (2011); Borch et al. (2004); Clewell
et al. (2013a); (2013b).
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et al. (2011).
et al. (2011).
71 NAS (2017).
70 Hannas
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of evidence that DINP leads to phthalate
syndrome. Furthermore, the animal
studies, which involve short term
exposures, do not reflect the continuous
exposures that occur in humans.
Comment: Nipple retention.
Commenters questioned whether nipple
retention is a relative endpoint when
considering phthalates’ effects on
humans and questioned the results of
studies by Boberg et al. (2011) and Gray
et al. (2000). Commenters also noted
that Clewell et al. (2013b) reported no
significant difference in nipples in male
rats exposed to DINP. (Comment 1.17).
Response: The CHAP specifically
discussed nipple retention as a relevant
endpoint for antiandrogenic activity,
and concluded that nipple retention in
male animals is consistent with
phthalate-induced reductions in
testosterone levels. CHAP report at p. 16
and Appendix A–2. Staff notes that
nipple retention is sensitive to exposure
of the developing animal during key
windows of susceptibility. Studies cited
by the commenters that indicate the
dosing ends during gestation or within
the early part of the postnatal period do
not consider possible effects of ongoing
exposure, as could be expected for
humans with exposures occurring after
birth, but within early life periods of
vulnerability from food, water, or
contact with consumer products. As
noted previously, phthalate syndrome is
a spectrum of effects; all effects will not
be present in every study.72 Although
nipple retention in animals may not
correspond to a specific endpoint in
humans, nipple retention is an
antiandrogenic effect that could
manifest in different ways in humans.
Comment: Reproductive tract
malformations. Commenters noted that
a number of animal studies involving
DINP have not reported male
reproductive tract malformations, such
as cryptorchidism or hypospadias. For
example, commenters stated that in the
study by Gray et al. (2000), the
significance of the changes after DINP
exposure were unclear and
questionable. (Comment 1.18).
Response: Staff recognizes that the
same specific male reproductive tract
malformations have not been
consistently observed following DINP
exposure. As noted previously,
phthalate syndrome is a spectrum of
effects and not all effects will be
observed in every study. As the CHAP
recognized, the observation of effects
depends on the dose level used in each
study. CHAP report at p. 2. The three
studies described by the commenter as
‘‘definitive’’ studies (Hellwig et al.,
72 Howdeshell
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Hushka et al., and Waterman et al.) were
not designed or intended to detect
phthalate syndrome effects. In fact, one
of the ‘‘definitive’’ studies (Hushka et
al.) was on DIDP, which does not cause
phthalate syndrome. Staff acknowledges
that the Clewell study demonstrates that
DINP induces limited or no phthalate
syndrome effects following dietary
dosing to rats. In spite of this, the
authors themselves conclude that DINP
has less potency than DEHP or DBP, but
more than DEP when considering effects
on the male reproductive tract. They
additionally state ‘‘DINP is simply less
potent than DBP and DEHP, i.e., it has
lower potency in causing any adverse
responses.’’ Staff also notes that this
study involved oral dosing via feed,
which is different than oral dosing using
a tube inserted into the stomach (gavage
dosing), which is used in typical
developmental toxicity studies for
determining phthalate syndrome effects.
Different dosing strategies may account
for the lack of effects seen in the Clewell
study. Staff responds to commenters’
criticisms of other studies in comment/
response 1.18 in Tab B of the staff’s
briefing package.
Comment: DINP’s effects on sperm.
Several commenters asserted that there
is no strong evidence that DINP
adversely affects sperm production or
quality. They discussed a number of
studies regarding DINP’s effects on
sperm parameters, male mating
behavior, and fertility. (Comment 1.19).
Response: Three studies that
commenters described as definitive
were not actually designed or intended
to detect phthalate syndrome effects.
One of them was on DIDP, which does
not cause phthalate syndrome.
Inconsistencies could be due to study
parameters or to the lower potency of
DINP compared to other phthalates that
have more consistent effects on sperm
and fertility. Staff provides a more
detailed response in comment/response
1.19 in Tab B of the staff’s briefing
package.
Comment: Multi-nucleated gonocytes
(MNGs). Several commenters disagreed
with the CHAP’s use of MNG formation
as a phthalate syndrome endpoint, and
asserted that MNG formation is not a
consequence of exposure to DINP. Some
commenters asserted that MNG
induction should not be considered an
adverse effect because the MNGs are
eliminated within a few weeks after
birth. (Comment 1.20).
Response: Although MNG formation
is not linked directly to changes in
testosterone production, and not
necessarily a direct antiandrogenic
effect of phthalate exposure, MNGs are
a characteristic effect routinely observed
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49965
after dosing with phthalates.73 Thus, the
observation of MNGs formed after DINP
exposure is consistent with results after
exposure to other active phthalates,
such as DBP, and is a marker of
phthalates’ effects in the developing
male reproductive system. Furthermore,
one study suggests that the presence of
MNGs may be linked to reduced fertility
or testicular germ cell cancer in
humans.74
Comment: Human epidemiology data
and DINP antiandrogenicity. One
commenter asserted that the available
epidemiology data do not support the
assertion that DINP is associated with
reproductive effects in humans. The
commenter presented a review of four
studies that evaluated DINP’s
association with adverse human
reproductive effects.75 The review
found lack of correlation or equivocal
results in these studies. The commenter
also found that a more recent study that
reported slight reductions in AGD
associated with DINP metabolites in
mother’s urine was equivocal.76
Another commenter noted that
statistical chance may have been
responsible for some of the
epidemiology studies’ positive
association. The commenter concluded
that the weight of the current
information did not support that
humans developed reproductive or
developmental issues following
exposure to phthalates. (Comment 7.5).
Response: Of the four studies
mentioned by the commenter, two were
of adults and one was of boys aged 6–
19 years. The CHAP concluded that
studies in adult men were less relevant
to the CHAP’s work because exposures
measured during adulthood cannot be
used to infer childhood or early life
exposure. Observational epidemiology
studies control for the possibility of
random chance, bias, or confounding in
their study design and analysis. The
primary studies that commenters
mentioned discuss the studies’ efforts to
minimize these effects. Staff concludes
that most of the studies cited by the
commenters are not relevant to the
current rulemaking on children’s toys
and child care articles because they
involved adults or older children.
Because humans are simultaneously
exposed to multiple phthalates, it is
difficult to distinguish the effects of
different phthalates in epidemiology
studies. Staff concludes that the overall
73 Spade
et al. (2015).
et al. (2006).
75 The studies were (Joensen et al. (2012);
Jurewicz et al. (2013); Main et al. (2006); Mieritz et
al. (2012).
76 Bornehag et al. (2015).
74 Ferrara
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weight of the evidence demonstrates an
association between prenatal phthalate
exposure and MRDE effects in infants.
(b) DINP and Risk
Comment: DINP’s contribution to risk.
Several commenters asserted that DINP
contributes little to the cumulative risk.
They noted that the CHAP’s cumulative
risk assessment showed that the
estimated risks associated with
phthalate exposure were driven by
DEHP and DBP, and that DINP
contributed only a small portion of the
combined risk (less than one percent). A
comment on CPSC staff’s 2017 report
stated that as DINP continues to replace
DEHP, the risk will continue to fall, thus
increased replacement of phthalates by
DINP will lower the cumulative risk
further than it currently is. Along these
lines, the commenter asserted that
lifting the interim prohibition regarding
DINP would have only an
‘‘inconsequential effect’’ on cumulative
risk. Some commenters asserted that,
because DINP is less potent than DEHP,
even if DINP entirely replaced DEHP,
the 95th percentile HI would be far
below one. (Comments 3.3, 3.4, and 5.1).
Response: CPSC agrees that the
median and 95th percentile HIs would
be less than one if all CRA phthalate
exposures were considered to be from
DINP. However, a certain number of
WORA in the 2013/2014 NHANES
sample have HIs and DINP HQs greater
than one. Any increase in DINP
exposure could increase these
individuals’ risk. In addition, there are
a number of individuals that have HIs
and DINP HQs near one. Additional
DINP exposure to these individuals
could increase the risk to greater than an
HI of one (see comment response 3.2
and TAB A). Based on the scenariobased exposure assessment, lifting the
interim prohibition on children’s toys
that can be placed in a child’s mouth
and child care articles containing more
than 0.1 percent of DINP could result in
children’s toys and child care articles
accounting for up to about 29 percent of
total DINP exposure to infants.
However, if DINP is not allowed in
children’s toys and child care articles,
such products would not contribute to
total DINP exposure. Staff is unable to
quantify the impact of changes in DINP
exposure on the percent of WORA or
infants that have an HI less than or
equal to one, although staff notes that an
increased exposure will increase the
MRDE risk to the population. Staff does
not consider that increasing MRDE risk
to the population is ‘‘inconsequential,’’
particularly to those affected.
As the commenter points out, in
reality DINP would not replace all of the
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other phthalates because the differences
in properties among the phthalates limit
their use depending on the intended
application. WORA with HQs greater
than one were measured in each
NHANES cycle despite the interim
prohibition on children’s toys that can
be placed in a child’s mouth and child
care articles containing DINP. Any
further increase in DINP exposure could
increase the risk from DINP.
Comment: ‘‘Reasonable certainty of no
harm’’ and DINP. Some commenters
asserted that the standard ‘‘reasonable
certainty of no harm’’ is met without
continuing the interim prohibition
regarding DINP. They reasoned that,
because the CPSIA permanently
prohibited children’s toys and child
care articles containing DEHP, DBP and
BBP, those phthalates cannot contribute
to any cumulative risk from these
children’s products in the future; and
without those phthalates, the HI clearly
is less than one, so there is a reasonable
certainty of no harm from use of DINP
in these children’s products. In contrast,
other commenters asserted that it ‘‘turns
logic upside-down’’ to suggest that ‘‘as
DEHP is replaced by less toxic
phthalates, there is a reasonable
certainty of no harm from increasing
exposures to the remaining phthalates,’’
because the level of future replacement
is unknown, but it is known that the
replacement phthalates present hazards.
Commenters on the staff’s analysis of
more recent NHANES data asserted that
CPSC staff’s analysis clearly
demonstrates that the interim
prohibition involving DINP can be lifted
while meeting the ‘‘reasonable certainty
of no harm’’ standard set forth in the
CPSIA because the NHANES 2013/2014
data show that cumulative risk for
WORA continues to decline with the HI
consistently below one for the 50th and
95th percentiles. (Comment 3.20).
Response: As explained, studies show
that DINP contributes to the cumulative
risk. The CPSIA’s permanent
prohibition keeps DEHP, BBP, and DBP
out of children’s toys and child care
articles; however these phthalates
continue to be used in other products
and thus they contribute to the
cumulative risk. The CRA demonstrates
that HIs greater than one were observed
in actual WORA sampled, in all
NHANES data cycles, including the
most recent (2013/2014). Thus, male
children born to these women could be
at risk for MRDE. Because a portion of
the potentially sensitive population is
still near the level of concern (HI greater
than 1), permanently prohibiting
children’s toys and child care articles
containing DINP is still necessary to
‘‘ensure a reasonable certainty of no
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harm’’ to children and pregnant women
with an ‘‘adequate margin of safety.’’
Comment: Diet as source of exposure
to DINP. Several commenters noted that
diet is the primary source of exposure
for DINP, as well as other phthalates, in
infants and children. They asserted that
DINP contributes so little to the
combined risk from exposure to
phthalates from all sources that a
permanent prohibition on DINP’s use in
children’s toys and child care articles
would have little effect on the overall
risk and, thus, the prohibition is not
supported. (Comment 5.3).
Response: The CHAP report does
show that food, rather than children’s
toys or child care articles, provides the
primary source of phthalate exposure to
women and children. CHAP report at
pp. 49–53. The other main contributors
were soft plastic toys and teethers (via
mouthing), and personal care products
such as lotions, creams, oils, soaps, and
shampoos via dermal contact. Id. Figure
2.1.
The scenario-based exposure
assessment included in the CHAP report
shows that mouthing and dermal
exposure to toys could contribute an
average of 12.8 percent, 5.4 percent, and
1 percent of the overall DINP exposure
to infants, toddlers, and children,
respectively, if DINP were used in these
products. Id. at Appendix E1, Tables
E1–21, E1–22, and E1–23. Mouthing and
handling soft plastic toys and teethers
could contribute 12.8 percent (mean
exposure) or 16.6 percent (95th
percentile exposures) of total DINP
exposure in infants. Id. at Table E1–21.
Dermal contact with the evaluated toys
and child care articles may contribute
up to an additional 16.5 percent of
exposures to infants. Id. Therefore,
although infants’ DINP exposure was
primarily from diet, up to 29 percent
may be due to the presence of DINP in
the evaluated toys and child care
articles. Id., Figure 2.1.
Comment: DINP in isolation.
Commenters asserted that the CHAP
found no significant health risk from
exposure to DINP by itself (considered
in isolation), given the very large MOE
estimates for median exposures, as well
as for the 95th percentile of exposure.
Commenters concluded that because of
the high MOEs for DINP from all
sources, the margins of safety must be
even larger for the children’s products’
contribution to DINP exposure, and
thus, there is no basis for a permanent
prohibition on children’s toys and child
care articles containing DINP. A
commenter also stated that replacement
of DEHP by DINP would not be
expected to increase the risk because of
DINP’s lower potency. A commenter
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also asserted that even a doubling in
DINP exposures would not increase the
risk substantially, thus, restricting
DINP’s use is unwarranted. (Comment
5.5).
Response: As discussed previously,
the CHAP’s recommendations and the
Commission’s rule are based on the
cumulative risk from DINP in
combination with other phthalates. We
note, however, that due to the increased
exposure to DINP (as seen in the 2013/
2014 NHANES data), DINP’s risk in
isolation has increased. Thus, DINP
alone may dominate the cumulative risk
in the future, and DINP exposure in
isolation may approach the level of
concern, especially considering Case 2.
Using the most recent NHANES data,
the MOEs for WORA exposed to DINP
range from 2300 to 150,000 (median)
and 220 to 14,000 (95th percentile) for
all three cases.
CPSC disagrees with the assertion that
doubling the DINP exposure would not
increase the risk substantially, and notes
that currently, a certain proportion of
actual WORA have a DINP HQ greater
than one and a certain proportion of
actual WORA have DINP HQs near one.
Increasing exposure to DINP may
increase the number of individuals with
an HQ greater than one or may increase
the HQs of individuals with an HQ
greater than one. Furthermore, doubling
DINP exposures would lower the MOE
for DINP to 110 to 7000 (95th
percentile). The CHAP noted that MOEs
exceeding 100 to 1000 are typically
‘‘considered adequate for protecting
public health.’’ CHAP report at p. 4.
Current analysis suggests, therefore, that
DINP MOEs, in isolation, (e.g., the MOE
is 220 for Case 2) are below the upper
limit, and are nearing the lower limit
considered adequate for protecting
public health.
Comment: Safety of DINP compared
to alternatives. Numerous commenters
expressed concern about prohibiting the
use of DINP in children’s toys and child
care articles when not much is known
about the toxicity and safety of
alternative chemicals. Some
commenters stated that the safety of
alternative plasticizers should be
thoroughly tested before placing
restrictions on DINP. Commenters stated
that DINP is well studied, has been used
for over 50 years, and has been found
safe for its intended uses. Commenters
were concerned that prohibiting the use
of DINP in children’s toys and child
care articles could potentially put
people at greater risk as substitutes with
uncertain safety are used instead.
(Comment 10.5).
Response: CPSC shares the
commenters’ concerns about the shift of
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chemical use from phthalates with
known toxicity to phthalate alternatives
with less toxicity or exposure
information. The CHAP identified
several data gaps for phthalate
alternatives. CPSC agrees with the
CHAP’s recommendation that
appropriate federal agencies should
perform additional research and risk
assessment activities on phthalates and
phthalate alternatives to fill in data
gaps. However, CPSC does not believe
that the lack of data on alternative
plasticizers means we should not take
action regarding DINP. DINP has in fact
been covered by the interim prohibition
since February 2009. As explained in
the NPR and throughout this document
and the staff’s briefing package, based
on the CHAP report and staff’s analysis,
we conclude that DINP causes adverse
effects on male reproductive
development and contributes to the
cumulative risk of these effects from
other antiandrogenic phthalates. Thus,
the Commission determines that
prohibiting children’s toys and child
care articles containing concentrations
of more than 0.1 percent of DINP is
necessary to ensure a reasonable
certainty of no harm and to protect the
health of children.
(c) Scope of Prohibition Regarding DINP
Comment: Support for expanding
scope to all children’s toys rather than
those that can be placed in a child’s
mouth. Several commenters stated that
the Commission lacked justification to
expand the restriction on DINP from
‘‘children’s toys that can be placed in a
child’s mouth’’ to all children’s toys.
One commenter noted that it is not clear
the CHAP intended to recommend this
expansion. Other commenters noted
that because the MOEs for DINP show
that it does not present a risk in
isolation, there is no basis for expanding
the interim prohibition to cover all
children’s toys. Commenters asserted
that the Commission had little
justification for the change and that it
would have little effect on the risk. They
noted that any risk comes primarily
from mouthing. However, other
commenters, citing evidence that DINP
is associated with MRDE and the
CHAP’s CRA analysis, stated that the
CRA clearly supported the proposed
prohibition involving DINP and the
proposed expansion of scope from toys
that can be placed in a child’s mouth to
all children’s toys. (Comments 6.1 and
6.2).
Response: As discussed previously,
this rule is based on the cumulative risk
analysis demonstrating that DINP (and
other antiandrogenic phthalates) causes
MRDE and, and the most recent
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NHANES data that shows that there
were from two to nine individuals with
a HI greater than one in a sample of 538
WORA. Limiting the rule to children’s
toys that can be placed in a child’s
mouth would exclude toys that could
also expose children to DINP through
mouthing behaviors other than placing
the toy in the mouth and through hand
to mouth exposure (e.g., licking) as well
as direct exposure through dermal
contact. The 2013/2014 NHANES data
indicate that exposure to DINP is
increasing, even with the CPSIA’s
interim prohibition in effect. Covering
all children’s toys (rather than only
those that can be placed in a child’s
mouth) will decrease exposure to DINP
and thus reduce the risk of MRDE.
Comment: Reliance on low cost and
low dermal exposure as rationale in
NPR. Commenters asserted that the NPR
had provided faulty rationales for the
expansion. A commenter asserted that
the Commission had inappropriately
based the expansion to all children’s
toys on consideration of testing costs
rather than on risk. A commenter stated
that the reasoning stated in the NPR in
favor of expanding the rule to all
children’s toys was inconsistent with
the reasons CPSC had stated for not
expanding the prohibition to all
children’s products. The commenter
understood that CPSC did not propose
to cover all children’s products because
of negligible exposure due to the
infrequency of mouthing of children’s
products (that are not children’s toys or
child care articles). The commenter
asserted that this same rationale
indicates that the rule should not be
expanded beyond children’s toys that
can be placed in a child’s mouth.
(Comment 6.3 and 6.6).
Response: The NPR mentioned that
the proposed expansion would have
little impact on testing costs. 79 FR
78335. However, the NPR merely noted
this anticipated impact; the reason for
the expansion is to reduce the risk of
adverse health effects. Regarding any
inconsistency between proposing to
expand the interim prohibition to all
children’s toys and proposing not to
cover additional children’s products, we
note that the proposal concerning all
children’s products was based primarily
on a lack of information to assess the
impact on children’s health.
Comment: Reliance on European
assessment as rationale in NPR.
Commenters objected to the NPR’s
discussion of the Europe Union’s
regulations on phthalates. Commenters
noted that the NPR stated that the
European Commission’s 2005 directive
on phthalates had distinguished
between all children’s toys and toys that
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can be placed in the mouth due to
uncertainties about DINP, DNOP and
DIDP. The NPR suggested that, now that
the CHAP had issued its report, these
uncertainties no longer exist.
Commenters objected to the NPR’s
reliance on this reasoning to support the
expansion of the regulation of DINP. In
addition, the EU submitted a related
comment noting that the European
Chemicals Agency (ECHA) conducted
an extensive review in 2010 on DINP,
DIDP and DNOP, and concluded that
exposure other than mouthing did not
present further risk. (Comments 6.4 and
6.5).
Response: Regarding the ECHA’s reevaluation, that report did not
specifically address the distinction
between children’s toys and toys that
can be placed in a child’s mouth.
Additionally, the 2013 ECHA report
used different health end points (liver
toxicity) as the focus, rather than the
MRDE focus used by the CHAP and
CPSC. Moreover, the 2013 ECHA report
did not consider cumulative health risks
from multiple phthalates.
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b. Di-n-octyl phthalate (DNOP)
The CHAP concluded that DNOP does
not lead to male developmental
reproductive toxicity in animals and,
therefore, does not contribute to the
cumulative risk. Although DNOP does
cause other developmental
(supernumerary ribs) and systemic
effects (liver, thyroid, immune system,
and kidney), the MOEs in humans are
very high. Therefore, the CHAP
recommended that the current
prohibition involving DNOP be lifted.
CHAP report at pp. 91–95. The NPR
noted that DNOP levels in people are so
low that they are not detectable in about
90 percent of humans, and that DNOP
is not antiandrogenic, and, therefore,
does not contribute to the cumulative
risk. 79 FR 78334. Based on the CHAP
report and staff’s analysis, the
Commission concludes that continuing
the prohibition of children’s toys that
can be placed in a child’s mouth and
child care articles containing more than
0.1 percent of DNOP is not necessary to
ensure a reasonable certainty of no harm
to children, pregnant women, or other
susceptible individuals with an
adequate margin of safety.
c. Diisodecyl phthalate (DIDP)
The CHAP concluded that DIDP does
not lead to male developmental
reproductive toxicity in animals and,
therefore, does not contribute to the
cumulative risk. The CHAP considered
the risk of DIDP in isolation and found
that DIDP does cause other
developmental (supernumerary ribs)
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and systemic effects (liver, and kidney).
However, because the MOEs in humans
are sufficiently high (range from 2,500
to 10,000 for median DIDP exposures
and 586 to 3,300 for upper-bound
exposures), the CHAP recommended
that the interim prohibition involving
DIDP be lifted. CHAP report at pp. 100–
105. As noted in the NPR, DIDP
exposure would need to increase by
more than 250 times to exceed an
acceptable level. 79 FR 78334. Based on
the CHAP report and staff’s analysis, the
Commission concludes that continuing
the prohibition of children’s toys that
can be placed in a child’s mouth and
child care articles containing more than
0.1 percent of DIDP is not necessary to
ensure a reasonable certainty of no harm
to children, pregnant women, or other
susceptible individuals with an
adequate margin of safety.
d. Comments Concerning DNOP and
DIDP
Comment: Prohibition concerning
DNOP and DIDP should be made
permanent. Some commenters asked the
Commission to make the interim
prohibition regarding DNOP and DIDP
permanent. Commenters reiterated the
CHAP’s conclusions that DNOP is a
potential developmental toxicant,
causing supernumerary ribs, and a
potential systemic toxicant, causing
adverse effects on the liver, thyroid,
immune system, and kidney. They
noted that the CHAP stated that DIDP
was a ‘probable toxicant’ based on
reproductive and developmental effects,
and adverse systemic effects on the liver
and kidney. A commenter suggested
that ‘‘there could be a cumulative
impact from exposures to a mixture of
DINP, DNOP and DIDP, which would
enhance the concern about harm.’’
Commenters asserted that without
enough data to conduct a robust risk
assessment, lifting the prohibition
involving DNOP and DIDP will lead to
elevated exposure to these two
phthalates when others are covered by
prohibitions. (Comments 5.8 and 5.9).
Response: The CHAP concluded that
DIDP and DNOP do not appear to
possess antiandrogenic potential and
therefore the CHAP did not include
them in the cumulative risk assessment.
As discussed above, the CHAP’s
analysis of DIDP and DNOP in isolation
showed high MOEs (greater than 1,000
for all populations) that are sufficient to
protect human health. The CHAP found
that DNOP exposure levels are so low
that one of the metabolites, MNOP, was
not detectable in about 90 percent of
humans. CHAP report at Table 2.6.
Exposures would have to increase by a
large measure before the acceptable
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levels of exposure would be exceeded.
Thus, the CHAP report and staff’s
analysis do not support a conclusion
that prohibiting the use of DNOP or
DIDP in children’s toys that can be
placed in a child’s mouth and child care
articles is necessary to ensure a
reasonable certainty of no harm to
children, pregnant women, or other
susceptible individuals with an
adequate margin of safety.
Comment: ‘‘Reasonable certainty of no
harm’’ and DNOP and DIDP. Some
commenters asserted that lifting the
interim prohibition concerning DNOP
and DIDP while banning other
phthalates would raise questions about
whether such action meets the
‘‘reasonable certainty of no harm’’
standard. They noted that the CHAP
report found exposure to these
chemicals from toys and child care
articles and that the CHAP reported
developmental and systemic toxic
effects caused by these chemicals in
animal studies. (Comment 5.9).
Response: The CHAP concluded that
DIDP and DNOP do not appear to
possess antiandrogenic potential and
therefore the CHAP did not include
these two phthalates in the cumulative
risk assessment. Assessing these
chemicals in isolation, the CHAP found
that the margins of exposure were
sufficiently high to protect human
health. Therefore, staff concludes that
there is no justification to continue the
prohibition involving DNOP or DIDP.
2. Phthalates Subject to the Rule But
Not Currently Prohibited Under the
CPSIA. In addition to determining what
action to take regarding the interim
prohibition, the CPSIA directed the
Commission to ‘‘evaluate the findings
and recommendations of the Chronic
Hazard Advisory Panel and declare any
children’s product containing any
phthalates to be a banned hazardous
product under section 8 of the
Consumer Product Safety Act (15 U.S.C.
2057), as the Commission determines
necessary to protect the health of
children.’’ 15 U.S.C. 2057c(b)(3)(B).
In the absence of a definition or other
guidance on the meaning of the phrase
‘‘necessary to protect the health of
children,’’ CPSC interprets the phrase in
the context of the CHAP report and
CPSC’s chronic hazard guidelines,77
which consider that an HI less than or
equal to one is necessary to protect the
health of children. As explained in the
CHAP report, the four additional
phthalates all cause male reproductive
developmental effects and would
contribute to the cumulative risk.
77 57
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The CHAP reviewed the potential
health risks associated with eight
phthalates that were not prohibited by
the CPSIA, and it recommended that
four additional phthalates (DIBP,
DPENP, DHEXP, and DCHP) be
prohibited from use in children’s toys
and child care articles. The CHAP found
that these four phthalates are associated
with adverse effects on male
reproductive development and
contribute to the cumulative risk from
antiandrogenic phthalates. CPSC staff
has reviewed the CHAP’s assessment
and agrees with the recommendation.
Based on the CHAP’s evaluation and the
staff’s assessment, the Commission
proposed to prohibit children’s toys and
child care articles containing more than
0.1 percent of DIBP, DPENP, DHEXP,
and/or DCHP. 79 FR 78335–78337. The
Commission determines that prohibiting
children’s toys and child care articles
that contain concentrations of more than
0.1 percent of DIBP, DPENP, DHEXP,
and/or DCHP is necessary to protect the
health of children and issues this final
rule to establish this prohibition.
Although current exposures to these
four phthalates are low, these phthalates
could be used as substitutes for the
phthalates subject to prohibition, thus
increasing human exposures from
MRDE phthalates. All of these four
phthalates are capable of contributing to
the cumulative risk. A 2014 study
demonstrated that three of these four
phthalates (DPENP, DHEXP, and DCHP)
had much greater potency than DEHP
which the CPSIA permanently prohibits
from use in children’s toys and child
care articles.78 The potency of the fourth
(DIBP) was slightly less or similar to
DEHP.79 In addition, these four
phthalates may have a greater potential
for exposure than DINP, because lower
molecular weight plasticizers generally
have higher migration rates.80
a. Diisobutyl Phthalate (DIBP)
The CHAP recommended prohibiting
the use of diisobutyl phthalate (DIBP) in
children’s toys and child care articles.
CHAP report at pp. 110–113. DIBP is
associated with adverse effects on male
reproductive development and
contributes to the cumulative risk from
antiandrogenic phthalates. Furthermore,
as noted in the NPR, DIBP has been
found in some toys and child care
articles during compliance testing by
CPSC. The CHAP estimated that DIBP
contributes up to 5 percent of the
cumulative risk in infants from all
products and sources. CHAP report at
78 Furr
et al. (2014).
79 Furr et al. (2014); Hannas et al. (2011).
80 Dreyfus and Babich (2011).
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Table 2.16. More recent biomonitoring
data show that DIBP exposures and risks
have increased by about 50%. TAB A of
staff briefing package.
DIBP is similar in toxicity to DBP,
which is one of the phthalates subject to
the CPSIA’s permanent prohibition.
DIBP was shown to be antiandrogenic in
numerous studies and it acts in concert
with other antiandrogenic phthalates.
The CHAP found that current exposures
to DIBP are low. When considered in
isolation, DIBP has a MOE of 3,600 or
more. CHAP report at pp. 24, 110–111.
DIBP contributes roughly 1 to 2 percent
of the cumulative risk from phthalate
exposure to pregnant women and 1
percent to 5 percent in infants.
However, the CHAP based its
recommendation on cumulative risk.
Based on evaluation of the CHAP
report and staff’s review, the
Commission concludes that there is
sufficient evidence to conclude that
DIBP is antiandrogenic and contributes
to the cumulative risk. The Commission
also concludes that, applying the CPSC
chronic hazard guidelines, this
phthalate is considered ‘‘probably
toxic’’ to humans based on sufficient
evidence in animal studies. As
discussed previously, the Commission
considers that a HI less than or equal to
one is necessary ‘‘to protect the health
of children.’’ Using the most recent
biomonitoring data, some WORA in the
sample have an HI that exceeds one. For
PEAA Case 1, three WORA had an HI
greater than one; for PEAA Case 2, nine
WORA had an HI greater than one; and
for PEAA Case 3, two WORA had an HI
greater than one. In addition, CPSC staff
has identified DIBP in a small portion
of toys and child care articles during
routine compliance testing. Therefore,
the rule prohibits children’s toys and
child care articles containing
concentrations of more than 0.1 percent
of DIBP. The Commission concludes
that this action is necessary to protect
the health of children because it would
prevent current and future use of this
antiandrogenic phthalate in children’s
toys and child care articles.
b. Di-n-pentyl Phthalate (DPENP)
The CHAP recommended prohibiting
the use of DPENP in children’s toys and
child care articles. CHAP report at pp.
112–113. DPENP is associated with
adverse effects on male reproductive
development and contributes to the
cumulative risk from antiandrogenic
phthalates. Furthermore, DPENP is the
most potent of the antiandrogenic
phthalates. Prohibiting the use of
DPENP would prevent its use as a
substitute for other banned phthalates.
The Commission agrees with the
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CHAP’s recommendation for DPENP.
Based on the CHAP report and previous
toxicity reviews by CPSC staff and a
contractor,81 the Commission concludes
that there is sufficient evidence that
DPENP is antiandrogenic and
contributes to the cumulative risk. For
example, the CHAP noted studies by
Howdeshell et al. and Hannas et al.,
which found that exposure to DPENP
reduced fetal testicular testosterone
production. Id. at p. 112. The
Commission also concludes that,
applying the CPSC chronic hazard
guidelines, this phthalate is considered
‘‘probably toxic’’ to humans, based on
sufficient evidence in animal studies.
Furthermore, DPENP is roughly two- to
three-fold more potent than DEHP.82
Although CPSC staff has not detected
DPENP in children’s toys or child care
articles, metabolites of DPENP have
been detected in humans,83 indicating
that some exposure to DPENP does
occur. In the CHAP’s analysis, up to five
percent of infants and up to 10 percent
of pregnant women exceed the
negligible risk level (HI greater than
one). Using the most recent
biomonitoring data, some WORA in the
sample have an HI greater than one.
Allowing the use of DPENP in
children’s toys and child care articles
would further increase the cumulative
risk. As discussed previously, the
Commission considers that a HI less
than or equal to one is necessary ‘‘to
protect the health of children.’’
Therefore, the rule prohibits children’s
toys and child care articles containing
concentrations of more than 0.1 percent
of DPENP. The Commission concludes
that this action is necessary to protect
the health of children because it would
prevent current and future use of this
antiandrogenic phthalate in toys and
child care articles.
c. Di-n-hexyl Phthalate (DHEXP)
The CHAP recommended prohibiting
the use of DHEXP in children’s toys and
child care articles. CHAP report at pp.
114–116. DHEXP is associated with
adverse effects on male reproductive
development and may contribute to the
cumulative risk from antiandrogenic
phthalates. The Commission agrees with
the CHAP’s recommendation for
DHEXP. Based on the CHAP report and
previous review by CPSC staff and a
contractor,84 the Commission concludes
that there is sufficient evidence that
DHEXP is antiandrogenic and
contributes to the cumulative risk. The
81 Patton,
(2010).
et al. (2011a).
83 Silva et al. (2010).
84 Patton (2010).
82 Hannas
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CHAP report noted a 1980 study by
Foster et al. that found severe testicular
atrophy in rats, among other effects. Id.
at p. 114. The Commission also
concludes that, by applying the CPSC
chronic hazard guidelines, this
phthalate may be considered ‘‘probably
toxic’’ to humans based on sufficient
evidence in animal studies. The CHAP
found that up to five percent of infants
and up to 10 percent of pregnant women
exceed the negligible risk level (HI
greater than one). Using the most recent
biomonitoring data, some WORA in the
sample have an HI that exceeds one.
Allowing the use of DHEXP in
children’s toys and child care articles
would further increase the cumulative
risk. As discussed previously, the
Commission considers that a HI less
than or equal to one is necessary ‘‘to
protect the health of children.’’
Although CPSC staff has not detected
DHEXP in toys and child care articles
during routine compliance testing thus
far, prohibiting children’s toys and child
care articles containing DHEXP would
prevent its use in these products as a
substitute for other banned phthalates.
Therefore, the rule prohibits children’s
toys and child care articles containing
concentrations of more than 0.1 percent
of DHEXP. The Commission concludes
that this action is necessary to protect
the health of children because it would
prevent future use of this
antiandrogenic phthalate in toys and
child care articles.
d. Dicyclohexyl Phthalate (DCHP)
The CHAP recommended prohibiting
the use of DCHP in children’s toys and
child care articles. CHAP report at pp.
116–118. DCHP is associated with
adverse effects on male development
and contributes to the cumulative risk
from antiandrogenic phthalates.
The Commission agrees with the
CHAP’s recommendation for DCHP.
Based on the CHAP report and previous
reviews by CPSC staff and a
contractor,85 the Commission concludes
that there is sufficient evidence that
DCHP is antiandrogenic and contributes
to the cumulative risk. For example, the
CHAP noted two studies that found
such effects as reduced AGD and nipple
retention in rats exposed to DCHP. Id.
at p. 116. The Commission also
concludes that, by applying the CPSC
chronic hazard guidelines, this
phthalate is considered ‘‘probably
toxic’’ to humans based on sufficient
evidence in animal studies. 57 FR 46626
(Oct. 9, 1992). The CHAP found that up
to five percent of infants and up to 10
percent of pregnant women exceed the
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negligible risk level (HI greater than
one). Using the most recent
biomonitoring data, some WORA in the
sample have an HI that exceeds one.
Allowing the use of DCHP in children’s
toys and child care articles would
further increase the cumulative risk. As
discussed previously, the Commission
considers that a HI less than or equal to
one is necessary ‘‘to protect the health
of children.’’ Although the CPSC staff
has not detected DCHP in toys and child
care articles during routine compliance
testing thus far, prohibiting the use of
DCHP would prevent its use as a
substitute for other banned phthalates.
Therefore, the rule prohibits children’s
toys and child care articles containing
concentrations of more than 0.1 percent
of DCHP. The Commission concludes
that this action is necessary to protect
the health of children because it would
prevent future use of this
antiandrogenic phthalate in toys and
child care articles.
e. Comments Concerning Phthalates
Subject to the Rule But Not Currently
Prohibited Under the CPSIA
Comment: Regulating DIBP, DPENP,
DHEXP, DCHP. One commenter stated
that DIBP, DPENP, DHEXP and DCHP
are not widely used in children’s toys
and child care articles and are not
prohibited in the European Union. The
commenter stated that the proposed rule
‘‘inevitably will extend inspection
range, add cost to manufacturers and
exporters and result in an unnecessary
trade barrier.’’ (Comment 5.7).
Response: CPSC agrees that DIBP,
DPENP, DHEXP and DCHP are not
widely used in children’s toys and child
care articles. However, as explained
above, studies demonstrate that these
four phthalates all cause MRDE and
they are as, or more, potent than DEHP.
Regarding the commenter’s assertion
that the prohibition of children’s toys
and child care articles containing these
four phthalates would add costs and
result in a trade barrier, because these
phthalates are not widely used in
children’s toys and child care articles,
the cost to manufacturers to reformulate
the few products that might contain
these phthalates should be small.
Moreover, third party testing is already
required for children’s toys and child
care articles containing prohibited
phthalates and the incremental cost of
adding the additional phthalates to the
analysis is expected to be very small.
Staff estimates that the additional
materials needed would cost $0.35 per
test or about 0.1 percent of a typical
$300 phthalates test for a component
part or material. The data analysis
procedure would need to be modified to
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include the new phthalates, but staff
does not expect this would additional
burdens to qualified laboratories.
f. Children’s Products
The scope of this rule covers
children’s toys and child care articles.
The CPSIA authorizes the Commission
to ‘‘declare any children’s product
containing any phthalates to be a
banned hazardous product’’ if such
action is necessary to protect the health
of children. 15 U.S.C. 2057c(b)(3)(B). As
explained in the NPR, the Commission
is not expanding the rule to cover other
children’s products. 79 FR 78337–
78338. Only limited data on exposure to
phthalates from other children’s
products exist. The general information
available does not support a
determination that prohibiting any
products other than children’s toys and
child care articles is necessary. Toys are
more likely than many other children’s
products to be made of materials that
could be plasticized with phthalates.
Toys and child care articles are more
likely than other children’s products to
provide a pathway of exposure to
phthalates both through oral exposure
(from direct contact with the mouth and
indirect contact when children place
their hands in their mouths) and dermal
exposure. We received few comments in
response to the NPR that addressed
expansion of the scope of the regulation
to all children’s products.
Comment: Expanding the scope to all
children’s products. One commenter
expressed disappointment that CPSC is
not expanding the scope of the
provisions involving phthalates to
include other children’s items such as
raincoats, footwear, backpacks, school
supplies, and clothes. The commenter
asserted that a lack of data does not
mean CPSC should assume there is no
problem. (Comment 6.6).
Response: Staff has not found new
information that would change the basis
underlying the Commission’s decision
not to propose expanding the scope of
the rule to all children’s products. There
is not enough information to adequately
assess the health impact of children’s
products other than children’s toys and
child care articles. In contrast to
children’s products in general, a wealth
of information regarding use exists for
children’s toys and child care articles
from other agencies, such as EPA, and
in scientific publications. The general
information available indicates that
exposure from children’s products is
comparatively less than that from
children’s toys and childcare articles.
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g. Other Phthalates Not Included in the
Rule
The CHAP examined 14 phthalates:
The three subject to the CPSIA’s
permanent prohibition, the three subject
to the CPSIA’s interim prohibition, and
eight additional phthalates. Of the eight
additional phthalates, the CHAP
recommended that four be prohibited
from use in children’s toys and child
care articles, that three (Dimethyl
Phthalate (DMP), Diethyl Phthalate
(DEP), Di(2-propylheptyl) Phthalate
DPHP) be free of any restriction, and the
one (Diisooctyl Phthalate (DIOP)) be
subject to an interim prohibition. CHAP
report at pp. 1118–119. As discussed in
the NPR, DIOP has a chemical structure
consistent with other antiandrogenic
phthalates. However, the CHAP
concluded that there is not sufficient
evidence to support a permanent
prohibition. 79 FR 78337. The CPSIA
did not provide for an interim
prohibition as an option for the
Commission’s rule under section 108,
and as the CHAP explained, insufficient
data exists to determine that a
permanent prohibition of DIOP is
necessary to protect the health of
children. We received a few comments
concerning phthalates that the CHAP
assessed but are not covered by CPSC’s
rule.
Comment: DIOP. Some commenters
suggested that the CPSC permanently
prohibit children’s toys and child care
articles containing DIOP. They stated
that the CHAP had noted DIOP’s
structural similarity to antiandrogenic
phthalates and they concluded that
CPSC should not assume that it would
meet the CPSIA criteria when hazard
and exposure data are lacking.
(Comment 5.10).
Response: Although the CHAP
recognized that the structure of DIOP
suggests that it may be associated with
antiandrogenic effects, no experimental
data exist that would support a
conclusion that DIOP causes MRDE.
Additionally, potency and exposure
data are lacking. Thus, there is no basis
for regulatory action on DIOP at this
time.
Comment: Prohibitions involving
other phthalates. Some commenters
asserted that ‘‘The CHAP’s lack of
recommendations for additional
regulatory action on phthalates like
DIOP, DMP, DEP, DPHP or many of the
alternatives evaluated is not an
endorsement of their safety’’ because of
the lack of sufficient hazard and
exposure data on these chemicals. The
commenters suggested that CPSC
continue to review and monitor these
phthalates and to recommend that other
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federal agencies take appropriate
actions. (Comment 10.4).
Response: CPSC staff participates in
several interagency collaborations to
discuss issues of mutual interest,
including phthalates. CPSC will
continue these cooperative activities.
E. The Concentration Limit
For both the permanent and interim
prohibitions, the CPSIA established a
concentration limit of 0.1 percent. The
CHAP stated:
When used as plasticizers for polyvinyl
chloride (PVC), phthalates are typically used
at levels greater than 10%. Thus, the 0.1%
limit prohibits the intentional use of
phthalates as plasticizers in children’s toys
and child care articles but allows trace
amounts of phthalates that might be present
unintentionally. There is no compelling
reason to apply a different limit to other
phthalates that might be added to the current
list of phthalates permanently prohibited
from use in children’s toys and child care
articles.
CHAP report at p. 79. As discussed in
the NPR, this concentration limit is not
based on risk, and the Commission
found no risk-based justification to
change the limit from the 0.1 percent
specified in the CPSIA. Thus, the
Commission proposed to maintain this
concentration limit. 79 FR 78338. We
did not receive any comments
concerning the concentration limit. The
final rule retains the 0.1 percent
concentration limit.
F. International and Other Countries’
Requirements for Children’s Toys and
Child Care Articles Containing
Phthalates
1. Summary of Requirements
Other countries have restrictions
concerning the use of various phthalates
in children’s toys and child care
articles. The requirements vary, but the
following countries have some
regulatory restrictions on phthalates that
can be used in children’s toys and child
care articles: The European Union (EU),
Denmark, Canada, Japan, Australia,
Brazil, Argentina, Taiwan, and Hong
Kong. The requirements differ on the
phthalates restricted and products
covered. Unlike CPSC’s rule, these
restrictions are based on evaluations of
phthalate exposures in isolation, not in
combination with other phthalates.
There is no international standard that
establishes substantive requirements for
phthalates in children’s toys and child
care articles. International Organization
for Standardization (ISO) 8124–6:2014
specifies a method for testing toys and
children’s products to determine if they
contain phthalates; it does not establish
any content limits. We provide a
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summary of other countries’
requirements concerning phthalates in
children’s toys and child care articles:
DINP:
• Denmark: Prohibits all phthalates at
concentrations above 0.05 percent in
toys and child care articles intended for
children under 3 years old.
• EU: Limits the use of DINP (as well
as DIDP and DNOP) individually or as
mixtures in toys and child care articles
which can be placed in the mouth by
children to no greater than 0.1 percent
by weight of the plasticized material.
• Canada: Limits use in the vinyl in
any part of a toy or child care article
that can be placed in the mouth of a
child under four years of age to no
greater than 0.1 percent of DINP, DIDP
or DNOP.
• Japan: For toys that are intended to
come in contact with the mouth
(excluding pacifiers and teething rings),
parts made from plasticized materials
that are intended to come in contact
with the mouth must not contain more
than 0.1 percent DINP (or DIDP or
DNOP); PVC parts not intended to come
in contact with mouth must not use
DINP as a raw material.
• Brazil: Limits use of DINP in plastic
materials in all kinds of toys for
children under three to no greater than
0.1 percent.
• Argentina: Limits use of DINP in
toys and child care articles made of
plastic material that can be placed in the
mouth to no greater than 0.1 percent.
• Taiwan: Limits DINP use in toys
and child care articles to no greater than
0.1 percent individually or in
combination with DEHP, DBP, BBP,
DIDP, or DNOP.
• Hong Kong: Limits the combination
of DINP, DIDP and DNOP to no greater
than 0.1 percent of the total weight of
the plasticized materials in toys or
children’s products any part of which
can be placed in the mouth of a child
under four years of age.
• Australia: Considered but rejected
limiting DINP in children’s toys and
child care articles.
Other Phthalates Covered by CPSC’s
Rule (DIBP, DPENP, DHEXP, DCHP)
• Denmark: In 2009 instituted a
national prohibition on all phthalates at
concentrations above 0.05 percent in
toys and child care articles intended for
children under 3 years old. This covers
all four phthalates: DIBP, DPENP,
DHEXP, DCHP.
• No restrictions concerning DIBP,
DPENP, DHEXP, DCHP in children’s
toys and child care articles in other
countries.
As this summary demonstrates,
requirements concerning DINP in
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children’s toys and child care articles
vary across different countries.
However, even if the precise
requirements differ, numerous countries
have some limitation on the use of DINP
in children’s toys and child care
articles, and one other country restricts
the use of DIBP, DPENP, DHEXP, and
DCHP in children’s toys and child care
articles.
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2. Comments Concerning Other
Countries’ and International
Requirements
Comment: Differences between
CPSC’s proposed rule and other
countries’ requirements. Some
commenters observed that CPSC’s NPR
differed from restrictions in other
countries. These comments focused on
CPSC’s expansion of the interim
prohibition regarding DINP to cover all
children’s toys. Commenters noted the
inconsistency between the EU’s
requirements concerning DINP and the
CPSC’s proposed rule. Two commenters
stated that the CPSC’s rule is consistent
with the EU. A commenter expressed
concerns that the rule might be a barrier
to international trade under the World
Trade Organization (WTO) Agreement
on Technical Barriers to Trade (TBT)
due to the differences between CPSC’s
rule and other countries’ approaches.
(Comment 5.6).
Response: As discussed above, CPSC’s
rule concerning DINP differs from other
countries’ restrictions. However, there is
variation among these countries; no
uniform consensus on regulation of
DINP in children’s toys and child care
articles exists. Regarding the TBT, we
note that there is no international
standard establishing restrictions on
phthalates in toys. ISO 8124–6:2014
only specifies a test method to
determine if toys and children’s
products contain phthalates. Rather,
countries have established their own
technical regulations. The TBT states
that technical regulations shall not be
more trade-restrictive than necessary to
fulfill a legitimate objective. CPSC’s rule
would not be a barrier to trade because
it will apply equally to both domestic
manufacturers and importers. We also
note that the TBT recognizes that
protection of human health or safety is
a legitimate objective.
G. Description of the Final Rule
The text of the final rule is the same
as the proposed rule with one
exception. For clarity, we have added
language from section 108(c) of the
CPSIA (as amended by Pub. L. 112–28)
regarding the application of the rule.
This addition does not change the
substance of the rule because the
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statutory provision applies regardless of
whether it is stated in the rule. Section
108(c) of the CPSIA states that the
permanent and interim phthalate
prohibitions, and any phthalates rule
the Commission issues under section
108(b)(3) of the CPSIA, ‘‘shall apply to
any plasticized component part of a
children’s toy or child care article or
any other component part of a
children’s toy or child care article that
is made of other materials that may
contain phthalates.’’ 15 U.S.C. 2057c(c).
The Commission received comments
on various aspects of the substance of
the proposed rule. These comments and
responses to them are summarized
throughout this document. More
detailed comment summaries and
responses are at Tab B of staff’s briefing
package.
Section 1307.1—Scope and Application
Section 1307.1 describes the actions
that the rule prohibits. This provision
tracks the language in section 108(a) of
the CPSIA regarding the permanent
prohibition and prohibits the same
activities: Manufacture for sale, offer for
sale, distribution in commerce, or
importation into the United States of a
children’s toy or child care article that
contains any of the prohibited
phthalates.
Section 1307.2—Definitions
Section 1307.2 provides the same
definitions of ‘‘children’s toy’’ and
‘‘child care article’’ found in section
108(g) of the CPSIA. ‘‘Children’s toy’’
means a consumer product designed or
intended by the manufacturer for a child
12 years of age or younger for use by the
child when the child plays. ‘‘Child care
article’’ means a consumer product
designed or intended by the
manufacturer to facilitate sleep or the
feeding of children age 3 and younger,
or to help such children with sucking or
teething. Although these definitions are
stated in the CPSIA, the rule text
restates them for convenience. We did
not receive comments on these
definitions, which re-state statutory
definitions.
Section 1307.3—Prohibition on
Children’s Toys and Child Care Articles
Containing Specified Phthalates
Section 1307.3(a) states the products
the rule prohibits. For convenience, this
section provides both the items that are
subject to the CPSIA’s existing
permanent prohibition and the items
that are subject to prohibition under the
rule. Stating all prohibitions in this
section will allow a reader of the CFR
to be aware of all the CPSC’s restrictions
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concerning phthalates, both statutory
and regulatory.
Paragraph (a) sets out the CPSIA’s
existing permanent prohibition which
makes it unlawful to manufacture for
sale, offer for sale, distribute in
commerce, or import into the United
States any children’s toy or child care
article that contains concentrations of
more than 0.1 percent of DEHP, DBP, or
BBP. The restriction on these products
was established by section 108(a) of the
CPSIA. This statutory prohibition is not
affected by the rule, but is merely
restated in the regulatory text.
Paragraph (b) prohibits the
manufacture for sale, offer for sale,
distribution in commerce, or
importation into the United States of
any children’s toy or child care article
that contains concentrations of more
than 0.1 percent of DINP, DIBP, DPENP,
DHEXP, and DCHP. As explained above,
in accordance with section 108(b)(2) of
the CPSIA, the Commission appointed a
CHAP that considered the effects on
children’s health of phthalates and
phthalate alternatives as used in
children’s toys and child care articles
and presented the Commission with a
report of its findings and
recommendations. After reviewing the
CHAP’s report, the most recent exposure
data, and public comments, the
Commission is finalizing this rule in
accordance with section 108(b)(3) of the
CPSIA.
For the reasons explained in this
preamble, the Commission concludes
that prohibiting children’s toys and
child care articles that contain
concentrations of more than 0.1 percent
of DINP would ensure a reasonable
certainty of no harm to children,
pregnant women, or other susceptible
individuals with an adequate margin of
safety. DINP is currently subject to the
CPSIA’s interim prohibition. 15 U.S.C.
2057c(b)(1). Section 1307.3(b) changes
the scope of regulation of DINP from the
current interim scope of ‘‘any children’s
toy that can be placed in a child’s
mouth’’ 86 (and child care articles) to
include all children’s toys. Based on the
recommendations in the CHAP report,
the Commission is not continuing the
interim prohibitions on DIDP and
DNOP.
Additionally, § 1307.3(b) prohibits
children’s toys and child care articles
86 Section 108(g)(2)(B) of the CPSIA states that ‘‘a
toy can be placed in a child’s mouth if any part of
the toy can actually be brought to the mouth and
kept in the mouth by a child so that it can be sucked
and chewed. If the children’s product can only be
licked, it is not regarded as able to be placed in the
mouth. If a toy or part of a toy in one dimension
is smaller than 5 centimeters, it can be placed in
the mouth.’’
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containing four phthalates that are not
currently subject to restrictions under
the CPSIA: DIBP, DPENP, DEXP, and
DCHP. For the reasons explained
previously, the Commission concludes
that prohibiting children’s toys and
child care articles containing
concentrations of more than 0.1 percent
of DIBP, DPENP, DEXP, or DCHP is
necessary to protect the health of
children.
The final rule adds paragraph (c) to
§ 1307.3 to clarify the application of the
rule. Section 108(c), as amended by
Public Law 112–28 (August 12, 2011),
addresses the application of the
Commission’s phthalates rule. For
convenience and clarity, we are
restating that statutory provision in
§ 1307.3 (c).
H. Effective Date
The APA generally requires that the
effective date of a rule be at least 30
days after publication of the final rule.
5 U.S.C. 553(d). The Commission
proposed an effective date of 180 days
after publication of the final rule in the
Federal Register. The final rule
provides a 180-day effective date. As
discussed in the NPR and in section V.
of this preamble, the Commission
expects that this rule will have a
minimal impact on manufacturers, and
that changes to testing procedures to
include children’s toys and child care
articles containing the four additional
prohibited phthalates would require
minimal effort by testing laboratories. 79
FR 78339. In accordance with the
CPSIA, restrictions on the use of certain
phthalates in children’s toys and child
care articles are currently in effect. This
rule does not affect the permanent
prohibition on children’s toys and child
care articles containing more than 0.1
percent of DEHP, BBP, and DBP. The
CPSIA’s interim prohibition currently
applies to children’s toys that can be
placed in a child’s mouth and child care
articles containing DINP. Thus, with
regard to DINP, the impact from the rule
would be only on children’s toys that
cannot be placed in a child’s mouth.
CPSC expects that a relatively small
percentage of children’s toys that cannot
be placed in a child’s mouth would
need to be reformulated to remove
DINP. Because the four additional
phthalates (DIBP, DPENP, DHEXP, and
DCHP) are not widely used in children’s
toys and child care articles, few
manufacturers will need to reformulate
products to comply with this aspect of
the rule. Regarding third party testing,
testing laboratories are already testing
children’s toys and child care articles
for the permanently prohibited
phthalates and are testing children’s
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toys that can be placed in a child’s
mouth and child care articles for DINP.
Testing laboratories can expand their
procedures to include the four
additional phthalates with minimal
effort. CPSC received a few comments,
summarized below, concerning the
effective date.
Comment: Effective date. Two
commenters stated that the Commission
should set an effective date of at least 1
year from finalizing the rule. They
asserted that DIDP and DINP are
difficult to differentiate through testing,
and that if the interim prohibition
concerning DIDP was lifted while DINP
continues to be restricted, laboratories
would need additional time to address
the technical testing difficulties.
Another commenter urged the
Commission to shorten the proposed
180-day effective date based on the
minimal impact CPSC anticipates to
‘‘ensure that there is no gap in the
protections from DINP.’’ Another
commenter asked for clarification that
the rule would not be retroactive (back
to 2011). (Comment 5.11).
Response: CPSC acknowledges that
differentiating DINP and DIDP may be
difficult. However, laboratories can
differentiate DINP and DIDP using
currently available equipment and
methods. Manufacturers can maintain
current formulations while they address
any perceived challenges differentiating
DINP and DIDP. As explained above,
CPSC expects that the rule will require
minimal changes for manufacturers and
testing laboratories. Therefore 180 days
from publication in the Federal Register
should be sufficient time for the rule to
take effect. We see no need to shorten
the effective date. The interim
prohibition established by section
108(b)(1) remains in effect until this rule
becomes effective. We confirm that the
rule is prospective and will apply to
products manufactured and imported on
or after the effective date. As mentioned,
however, the interim prohibition
remains in place until the final rule
takes effect.
V. Regulatory Flexibility Act
A. Certification
The Regulatory Flexibility Act (RFA)
requires an agency to prepare a
regulatory flexibility analysis for any
rule subject to notice and comment
rulemaking requirements under the
Administrative Procedure Act or any
other statute unless the agency certifies
that the rulemaking will not have a
significant economic impact on a
substantial number of small entities. 5
U.S.C. 603 and 605. Small entities
include small businesses, small
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49973
organizations, and small governmental
jurisdictions. The Commission certified
in the NPR that this rule will not have
a significant impact on a substantial
number of small entities pursuant to
section 605(b) of the RFA, 5 U.S.C.
605(b) in the NPR. 79 FR 78324, 78339–
41. Some comments expressed general
concerns about the economic impact of
the proposed rule, but none provided
information or evidence that the rule
would have a significant impact on a
substantial number of small entities.
Summaries of these comments and
CPSC’s responses are provided below.
More detailed summaries and responses
are in Tab B of the staff’s briefing
package. None of the comments
received by the Commission changes the
basis for the certification, nor has
Commission staff received any other
information that would require a change
or revision the Commission’s previous
analysis of the impact of the rule on
small entities. Therefore, the
certification of no significant impact on
a substantial number of small entities is
still appropriate.
As explained in greater detail in the
NPR, the certification is based on
CPSC’s determination that:
(1) Few, if any, manufacturers would
need to alter their formulations to
comply with the rule because:
• Children’s toys that can be placed
in a child’s mouth and child care
articles containing DINP have been
prohibited since 2009. Thus, no
manufacturer would have to reformulate
any products in these categories.
• Only children’s toys that cannot be
placed in a child’s mouth (no dimension
of the toy is less than 5 cm) containing
DINP would have to be reformulated.
Thus, only a small subset of children’s
toys that cannot be placed in a child’s
mouth would be affected by the rule.
• DIBP, DPENP, DHEXP, and DCHP
are not widely used in children’s toys
and child care articles. Therefore,
relatively few manufacturers would
have to reformulate products to
eliminate these phthalates due to the
rule.
(2) The rule would have a small
marginal impact on the cost of third
party testing because:
• All children’s toys and child care
articles are already subject to third party
testing for DEHP, DBP, and BBP.
• Currently, children’s toys that can
be placed in a child’s mouth and child
care articles must also be tested for the
presence of DINP.
• Laboratory equipment and methods
are already in place for testing the
prohibited phthalates, therefore the
additional cost of testing for DIBP,
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DPENP, DHEXP, and DCHP would be
very low.
• Identification and quantification
protocols for prohibited phthalates
would need minimal modification to
include DIBP, DPENP, DHEXP, and
DCHP because each of these phthalates
can be isolated at unique elution times
by gas chromatography. Thus, the
additional cost of analysis would be
very low.
• The additional cost of laboratory
materials would be very low. Chemical
standards for testing would be required
for the four additional phthalates, but
the standards for DNOP and DIDP
would no longer be required. Therefore,
the number of chemical standards
needed would increase by two which
CPSC expects would increase the cost of
third party testing for phthalates by less
than 35 cents per test, which is
relatively small compared to current
cost of phthalate testing (approximately
$300 per product or component part).
B. Comments Concerning Impact on
Small Business
Comment: Testing costs. Two
commenters agreed with CPSC that the
rule will have a small impact on testing
costs. One commenter asked for CPSC to
clarify how testing of technical mixtures
of DINP and DIDP would be performed,
noting that when DINP is detected in a
sample, additional analytical steps are
needed (at additional cost) to determine
if the DINP is present as a ‘pure’
chemical or if the DINP is part of a
technical mixture. Some commenters
asked the Commission to take action to
reduce testing costs. (Comment 9.1).
Response: For the reasons explained
above, CPSC expects that the additional
burden associated with the rule is small,
with no significant impact on a
substantial number of small entities.
Regarding testing of mixtures of DINP
and DIDP, the restriction on DINP
applies whether DINP is in the product
intentionally or unintentionally. Thus,
laboratories will not need to undertake
any additional effort to determine the
source of DINP found in a children’s toy
or child care article. Regarding steps to
reduce testing burdens, the Commission
has recently issued determinations that
will lower testing costs for some
children’s toys and child care article
manufacturers. 82 FR 41163 (August 30,
2017). The determinations rule went
into effect on September 29, 2017.
Comment: Costs and benefits of NPR.
Regarding the NPR’s determination that
the proposed rule’s economic impact
would be minimal, one commenter
stated CPSC had not considered the
effect on consumers or the possibility
that smaller manufacturers would be
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burdened by the rule in the future,
‘‘which offers no demonstrated public
health benefits in exchange for even
‘minimal’ costs.’’ The commenter
asserted that the rule would take a ‘‘safe
and useful chemical’’ away from
consumers. (Comment 9.4).
Response: Because CPSC followed the
rulemaking requirements stated in
section 108 of the CPSIA, which differ
from rulemaking requirements under
the CPSA and the FHSA, CPSC did not
prepare a regulatory analysis of the costs
and benefits of the rule. However, as
discussed above, CPSC did conduct an
analysis of the impact of the proposed
rule on small entities. The commenter
did not explain how future small
manufacturers would be burdened. For
the reasons explained above and in the
NPR, CPSC expects the costs for small
businesses subject to this rule would be
small.
VI. Notice of Requirements
The CPSA establishes certain
requirements for product certification
and testing. Children’s products subject
to a children’s product safety rule under
the CPSA must be certified as
complying with all applicable CPSCenforced requirements. 15 U.S.C.
2063(a). Certification of children’s
products subject to a children’s product
safety rule must be based on testing
conducted by a CPSC-accepted third
party conformity assessment body. Id.
2063(a)(2). The Commission must
publish a notice of requirements (NOR)
for the accreditation of third party
conformity assessment bodies (or
laboratories) to assess conformity with a
children’s product safety rule to which
a children’s product is subject. Id.
2063(a)(3). The final rule for 16 CFR
part 1307, ‘‘Prohibition of Children’s
Toys and Child Care Articles Containing
Specified Phthalates,’’ is a children’s
product safety rule that requires the
issuance of an NOR. The Commission
previously published in the Federal
Register an NOR for the phthalatecontaining products prohibited by the
permanent and interim prohibitions
state in section 108 on August 10, 2011.
(76 FR 49286). The codified listing for
the NOR can be found at 16 CFR
1112.15(b)(31). In this same issue of the
Federal Register the Commission is
publishing a notice of proposed
rulemaking that would update the
existing NOR for the phthalatecontaining products prohibited by this
final rule.
VII. Paperwork Reduction Act
The final rule does not include any
information collection requirements.
Accordingly, this rule is not subject to
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the Paperwork Reduction Act, 44 U.S.C.
3501–3520.
VIII. Preemption
Section 26(a) of the CPSA, 15 U.S.C.
2075(a), provides that where a
‘‘consumer product safety standard
under [the Consumer Product Safety Act
(CPSA)]’’ is in effect and applies to a
product, no state or political
subdivision of a state may either
establish or continue in effect a
requirement dealing with the same risk
of injury unless the state requirement is
identical to the federal standard.
(Section 26(c) of the CPSA also provides
that states or political subdivisions of
states may apply to the Commission for
an exemption from this preemption
under certain circumstances.) Section
108(f) of the CPSIA is entitled
‘‘Treatment as Consumer Product Safety
Standards; Effect on State Laws.’’ That
provision states that the permanent and
interim prohibitions and any rule
promulgated under section 108(b)(3)
‘‘shall be considered consumer product
safety standards under the Consumer
Product Safety Act.’’ That section
further states: ‘‘Nothing in this section
of the Consumer Product Safety Act (15
U.S.C. 2051 et seq.) shall be construed
to preempt or otherwise affect any State
requirement with respect to any
phthalate alternative not specifically
regulated in a consumer product safety
standard under the Consumer Product
Safety Act.’’ 15 U.S.C. 2057c(f). This
provision indicates that the preemptive
effect of section 26(a) of the CPSA will
apply to the final rule.
IX. Environmental Considerations
The Commission’s regulations
provide a categorical exclusion for the
Commission’s rules from any
requirement to prepare an
environmental assessment or an
environmental impact statement
because they ‘‘have little or no potential
for affecting the human environment.’’
16 CFR 1021.5(c)(2). Because this rule
falls within the categorical exclusion, no
environmental assessment or
environmental impact statement is
required.
X. List of References
This section provides a list of the
documents referenced in this preamble
and in the staff’s briefing package.
Adamsson A, Salonen V, Paranko J, Toppari
J. (2009) Effects of maternal exposure to
di-isononylphthalate (DINP) and 1,1dichloro-2,2-bis(p-chlorophenyl)ethylene
(p,p′-DDE) on steroidogenesis in the fetal
rat testis and adrenal gland. Reprod
Toxicol 28(1):66–74.
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Adibi JJ, Lee MK, Naimi AI, et al. (2015)
Human Chorionic Gonadotropin
Partially Mediates Phthalate Association
With Male and Female Anogenital
Distance. Journal of Clinical
Endocrinology and Metabolism
100:E1216–1224.
Allen BC, Crump KS, Shipp AM (1988)
Correlation between carcinogenic
potency of chemicals in animals and
humans. Risk Analysis 8:531–544.
Andrade AJ, Grande SW, Talsness CE, et al.
(2006) A dose response study following
in utero and lactational exposure to di(2-ethylhexyl) phthalate (DEHP):
Reproductive effects on adult male
offspring rats. Toxicology 228(1):85–97.
Arbuckle, TE, Davis, K, Marro, L, Fisher, M,
Legrand, M, LeBlanc, A, Gaudreau, E,
Foster, WG, Choeurng, V, Fraser, WD,
and the MIREC Study Group. 2014.
Phthalate and bisphenol A exposure
among pregnant women in Canada—
Results from the MIREC study.
Environment International. 68. 55–65.
Ashworth M, Cressey P. (2014) Health risk
assessment of selected phthalates in
children’s toys. New Zealand Ministry of
Health. Client Report FW 14054. October
2014. https://www.esr.cri.nz/assets/
HEALTH-CONTENT/MoH-reports/
FW14054-Phthalates-in-childrenstoys.pdf.
ATSDR (2004) Guidance Manual for the
Assessment of Joint Toxic Action of
Chemical Mixtures. May 2004. In: U.S.
Department of Health and Human
Services PHS, Agency for Toxic
Substances and Disease Registry,
Division of Toxicology (ed). U.S.
Department of Health and Human
Services, Atlanta, GA.
ATSDR (2017) Interaction Profiles for Toxic
Substances. In: Agency for Toxic
Substances and Disease Registry, Centers
for Disease Control and Prevention,
Atlanta, GA. Accessed January 12, 2017.
https://www.atsdr.cdc.gov/
interactionprofiles/index.asp.
Axelsson J, Rylander L, Rignell-Hydbom A,
Jonsson BA, Lindh CH, Giwercman A
(2015) Phthalate exposure and
reproductive parameters in young men
from the general Swedish population.
Environ Int 85:54–60.
Axelstad M, Christiansen S, Boberg J, et al.
(2014) Mixtures of endocrine-disrupting
contaminants induce adverse
developmental effects in preweaning
rats. Reproduction 147(4):489–501.
Aylward LL, Lorber M, Hays SM (2011)
Urinary DEHP metabolites and fasting
time in NHANES. Journal of Exposure
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Sec.
1307.1 Scope and application.
1307.2 Definitions.
1307.3 Prohibition on children’s toys and
child care articles containing specified
phthalates.
Authority: Sec. 108, Pub. L. 110–314, 122
Stat. 3016 (August 14, 2008); Pub. L. 112–28,
125 Stat. 273 (August 12, 2011).
§ 1307.1
Scope and application.
This part prohibits the manufacture
for sale, offer for sale, distribution in
commerce or importation into the
United States of any children’s toy or
child care article containing any of the
phthalates specified in § 1307.3.
§ 1307.2
Definitions.
The definitions of the Consumer
Product Safety Act (CPSA) (15 U.S.C.
2052(a)) and the Consumer Product
Safety Improvement Act of 2008
(CPSIA) (Pub. L. 110–314, sec. 108(g))
apply to this part. Specifically, as
defined in the CPSIA:
(a) Children’s toy means a consumer
product designed or intended by the
manufacturer for a child 12 years of age
or younger for use by the child when the
child plays.
(b) Child care article means a
consumer product designed or intended
by the manufacturer to facilitate sleep or
the feeding of children age 3 and
younger, or to help such children with
sucking or teething.
phthalate (DEHP), dibutyl phthalate
(DBP), or benzyl butyl phthalate (BBP)
is prohibited.
(b) In accordance with section
108(b)(3) of the CPSIA, the manufacture
for sale, offer for sale, distribution in
commerce, or importation into the
United States of any children’s toy or
child care article that contains
concentrations of more than 0.1 percent
of diisononyl phthalate (DINP),
diisobutyl phthalate (DIBP), di-n-pentyl
phthalate (DPENP), di-n-hexyl phthalate
(DHEXP), and dicyclohexly phthalate
(DCHP) is prohibited.
(c) In accordance with section 108(c)
of the CPSIA, the restrictions stated in
paragraphs (a) and (b) of this section
apply to any plasticized component part
of a children’s toy or child care article
or any other component part of a
children’s toy or child care article that
is made of other materials that may
contain phthalates.
Alberta E. Mills,
Acting Secretary, U.S. Consumer Product
Safety Commission.
[FR Doc. 2017–23267 Filed 10–26–17; 8:45 am]
BILLING CODE 6355–01–P
§ 1307.3 Prohibition of children’s toys and
child care articles containing specified
phthalates.
(a) As provided in section 108(a) of
the CPSIA, the manufacture for sale,
offer for sale, distribution in commerce,
or importation into the United States of
any children’s toy or child care article
that contains concentrations of more
than 0.1 percent of di-(2-ethyhexyl)
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Agencies
[Federal Register Volume 82, Number 207 (Friday, October 27, 2017)]
[Rules and Regulations]
[Pages 49938-49982]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2017-23267]
[[Page 49937]]
Vol. 82
Friday,
No. 207
October 27, 2017
Part II
Consumer Product Safety Commission
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16 CFR Part 1307
Prohibition of Children's Toys and Child Care Articles Containing
Specified Phthalates; Final Rule
Federal Register / Vol. 82 , No. 207 / Friday, October 27, 2017 /
Rules and Regulations
[[Page 49938]]
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CONSUMER PRODUCT SAFETY COMMISSION
16 CFR Part 1307
[Docket No. CPSC-2014-0033]
Prohibition of Children's Toys and Child Care Articles Containing
Specified Phthalates
AGENCY: Consumer Product Safety Commission.
ACTION: Final rule.
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SUMMARY: The United States Consumer Product Safety Commission
(Commission or CPSC) issues this final rule prohibiting children's toys
and child care articles that contain concentrations of more than 0.1
percent of diisononyl phthalate (DINP), diisobutyl phthalate (DIBP),
di-n-pentyl phthalate (DPENP), di-n-hexyl phthalate (DHEXP), and
dicyclohexyl phthalate (DCHP). Section 108 of the Consumer Product
Safety Improvement Act of 2008 (CPSIA) established permanent and
interim prohibitions on the sale of certain consumer products
containing specific phthalates. That provision also directed the CPSC
to convene a Chronic Hazard Advisory Panel (CHAP) to study the effects
on children's health of all phthalates and phthalate alternatives as
used in children's toys and child care articles and to provide
recommendations to the Commission regarding whether any phthalates or
phthalate alternatives, other than those already permanently
prohibited, should be prohibited. The CPSIA requires the Commission to
promulgate a final rule after receiving the final CHAP report. This
rule fulfills that requirement.
DATES: The rule will become effective on April 25, 2018.
FOR FURTHER INFORMATION CONTACT: For information related to the
phthalates prohibitions, contact: Carol L. Afflerbach, Compliance
Officer, Office of Compliance and Field Operations, Consumer Product
Safety Commission, 4330 East West Highway, Bethesda, MD 20814-4408;
telephone: 301-504-7529; email: [email protected].
SUPPLEMENTARY INFORMATION:
Outline. The information in this preamble is organized as follows:
I. Background
A. Consumer Product Safety Improvement Act
1. Statutory Prohibitions
2. Chronic Hazard Advisory Panel
3. Rulemaking
B. The Proposed Rule
C. Additional NHANES Analysis
D. Public Comments
E. Final Rule
II. Legal Authority
A. Summary of Legal Authority
B. Comments Regarding Legal Authority
1. The Information Quality Act
2. CPSIA Requirements for the CHAP
3. CPSIA's Requirements for the Rulemaking
4. The APA's Requirements
III. The CHAP
A. CPSIA Direction
B. The CHAP's Process
C. The CHAP Report
1. Health Effects
2. Exposure
3. Phthalates Risk Assessment
4. CHAP's Recommendations to the Commission
D. Comments Regarding the CHAP
1. Peer Review
2. CHAP's Transparency and Openness
3. Weight of Evidence and Completeness of CHAP's Review
IV. Final Rule and Rationale
A. Hazard: Phthalates' Effect on Male Reproductive Development
1. Summary
2. Comments Concerning MRDE
B. Exposure to Phthalates
1. Human Biomonitoring Data
2. Scenario-Based Exposure Assessment
C. Risk Assessment
1. Cumulative Risk Assessment
2. Risk in Isolation
D. Assessments/Determination for Each Phthalate
1. Phthalates Subject to the Interim Prohibition
2. Phthalates Subject to the Rule But Not Currently Prohibited
Under the CPSIA
E. The Concentration Limit
F. International and Other Countries' Requirements for
Children's Toys and Child Care Articles Containing Phthalates
1. Summary of Requirements
2. Comments Concerning Other Countries' and International
Requirements
G. Description of the Final Rule
H. Effective Date
V. Regulatory Flexibility Act
A. Certification
B. Comments Concerning Impact on Small Business
VI. Notice of Requirements
VII. Paperwork Reduction Act
VIII. Preemption
IX. Environmental Considerations
X. List of References
I. Background
A. Consumer Product Safety Improvement Act
In accordance with the Consumer Product Safety Improvement Act of
2008 (CPSIA), the Commission issues this final rule prohibiting
children's toys and child care articles containing concentrations of
more than 0.1 percent of certain phthalates.\1\
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\1\ The Commission voted 3-2 to publish this final rule in the
Federal Register. Commissioners Robert S. Adler, Marietta S.
Robinson, and Elliot F. Kaye voted to publish this final rule.
Acting Chairman Anne Marie Buerkle and Commissioner Joseph Mohorovic
voted against publication of this final rule.
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1. Statutory Prohibitions
Section 108 of the CPSIA establishes requirements concerning
phthalates. Section 108(a) of the CPSIA permanently prohibits the
manufacture for sale, offer for sale, distribution in commerce, or
importation into the United States of any ``children's toy or child
care article'' that contains concentrations of more than 0.1 percent of
di(2-ethylhexyl) phthalate (DEHP), dibutyl phthalate (DBP), or butyl
benzyl phthalate (BBP). 15 U.S.C. 2057c(a). In addition, section
108(b)(1) prohibits on an interim basis (i.e., until the Commission
promulgates a final rule), the manufacture for sale, offer for sale,
distribution in commerce, or importation into the United States of
``any children's toy that can be placed in a child's mouth'' or ``child
care article'' containing concentrations of more than 0.1 percent of
diisononyl phthalate (DINP), diisodecyl phthalate (DIDP), or di-n-octyl
phthalate (DNOP). Id. 2057c(b)(1). The CPSIA provides the following
definitions:
``Children's toy'' is ``a consumer product designed or
intended by the manufacturer for a child 12 years of age or younger for
use by the child when the child plays.''
``child care article'' is ``a consumer product designed or
intended by the manufacturer to facilitate sleep or the feeding of
children age 3 and younger, or to help such children with sucking or
teething.''
A ``toy can be place in a child's mouth if any part of the
toy can actually be brought to the mouth and kept in the mouth by a
child so that it can be sucked and chewed. If the children's product
can only be licked, it is not regarded as able to be placed in the
mouth. If a toy or part of a toy in one dimension is smaller than 5
centimeters, it can be placed in the mouth.''
Id. 2057c(g). These statutory prohibitions became effective in February
2009. The interim prohibitions remain in effect until the Commission
issues a final rule determining whether to make the interim
prohibitions permanent. Id. 2057c(b)(1).
2. Chronic Hazard Advisory Panel
The CPSIA directs the CPSC to convene a Chronic Hazard Advisory
Panel (CHAP) ``to study the effects on children's health of all
phthalates and phthalate alternatives as used in children's toys and
child care articles.'' Id. 2057c(b)(2). A ``phthalate alternative'' is
``any common substitute to a phthalate, alternative material to a
phthalate, or alternative plasticizer.'' Id. 2057c(g). The CHAP is to
recommend to
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the Commission whether any phthalates or phthalate alternatives other
than those permanently prohibited should be declared banned hazardous
substances. Id. 2057c(b)(2)(C).
3. Rulemaking
The CPSIA requires the Commission to promulgate a final rule,
pursuant to section 553 of the Administrative Procedure Act (APA), not
later than 180 days after the Commission receives the final CHAP
report. The Commission must ``determine, based on such report, whether
to continue in effect the [interim] prohibition . . . , in order to
ensure a reasonable certainty of no harm to children, pregnant women,
or other susceptible individuals with an adequate margin of safety. . .
.'' 15 U.S.C. 2057c(b)(3)(A). Additionally, the Commission must
``evaluate the findings and recommendations of the Chronic Hazard
Advisory Panel and declare any children's product containing any
phthalates to be a banned hazardous product under section 8 of the
Consumer Product Safety Act (15 U.S.C. 2057), as the Commission
determines necessary to protect the health of children.'' Id.
(b)(3)(B).
B. The Proposed Rule
On December 30, 2014, the Commission published a notice of proposed
rulemaking (NPR) in the Federal Register. 79 FR 78324. The preamble to
the NPR summarized the CHAP report, explaining the CHAP's review of
potential health effects of phthalates in animals and humans, the
CHAP's assessment of human exposure to phthalates, the CHAP's
assessment of risk (both cumulative and in isolation) of various
phthalates, and the CHAP's recommendations to the Commission. The
preamble to the NPR then provided CPSC staff's assessment of the CHAP
report and stated the Commission's description of the proposed rule and
its explanation of the rationale for the proposal.
The NPR generally followed the recommendations of the CHAP report.
As explained further in section III of this preamble, the CHAP focused
on certain phthalates' effect on male reproductive development. After
reviewing relevant studies, the CHAP found that certain phthalates
(which the CHAP called active or antiandrogenic) cause adverse effects
on the developing male reproductive tract. The CHAP determined that
these phthalates act in a cumulative fashion. The CHAP concluded that
DINP is an active (antiandrogenic) phthalate. Based on the cumulative
risk assessment conducted by the CHAP, the Commission determined that
``to ensure a reasonable certainty of no harm to children, pregnant
women, or other susceptible individuals with an adequate margin of
safety,'' the Commission proposed to permanently prohibit children's
toys and child care articles containing concentrations of more than 0.1
percent of DINP. The Commission proposed making the interim prohibition
concerning DINP permanent because the Commission concluded that
allowing the use of DINP in children's toys and child care articles
would further increase the cumulative risk to male reproductive
development. Although the interim prohibition applies to children's
toys that can be placed in a child's mouth and child care articles, the
NPR proposed permanently prohibiting DINP in all children's toys and
child care articles. 79 FR at 78334-35.
The Commission proposed lifting the interim prohibitions regarding
DIDP and DNOP. The Commission agreed with the CHAP that DIDP and DNOP
are not antiandrogenic, and therefore, they do not contribute to the
cumulative risk from antiandrogenic phthalates. The CHAP determined
that neither phthalate poses a risk in isolation. Therefore, the
Commission concluded that continuing the prohibitions regarding DIDP
and DNOP is not necessary to ensure a reasonable certainty of no harm
to children, pregnant women, or other susceptible individuals with an
adequate margin of safety. Id. at 78334-78336.
In addition, the Commission determined that DIBP, DPENP, DHEXP, and
DCHP are associated with adverse effects on male reproductive
development and contribute to the cumulative risk from antiandrogenic
phthalates. The Commission agreed with the CHAP's recommendation and
proposed to prohibit children's toys and child care articles containing
concentrations of more than 0.1 percent of DIBP, DPENP, DHEXP, and
DCHP. 79 FR at 78326-38. The Commission proposed that the rule would
take effect 180 days after publication of a final rule in the Federal
Register. Id. at 78339.
C. Additional NHANES Analysis
As explained further in section III.C.2 of this preamble, the CHAP
based its analysis, in part, on human biomonitoring data from the
Centers for Disease Control and Prevention's (CDC) National Health and
Nutrition Examination Survey (NHANES). The CHAP analyzed data from
NHANES' 2005/2006 data cycle. That data set had a larger number of
pregnant women than is usual for NHANES data sets. Since publication of
the NPR, CPSC staff has reviewed and analyzed the NHANES data cycles
released by the CDC after the 2005/2006 data cycle. CPSC staff issued a
report in June 2015 concerning the NHANES data sets that had been
released up to that point: ``Estimated Phthalate Exposure and Risk to
Pregnant Women and Women of Reproductive Age as Assessed Using Four
NHANES Biomonitoring Data Sets (2005/2006, 2007/2008, 2009/2010, 2011/
2012).'' See https://www.cpsc.gov/s3fs-public/NHANES-Biomonitoring-analysis-for-Commission.pdf . The June 2015 staff analysis reviewed the
2005/2006 NHANES data set to replicate the CHAP's methodology and
reviewed the subsequent NHANES data sets through 2011/2012. Staff's
analysis used women of reproductive age (WORA; 15-45 year of age) as
the population of interest, because NHANES data sets after 2005/2006
did not have sufficient numbers of pregnant women to be statistically
relevant. The Commission published a notice of availability in the
Federal Register seeking comment on the CPSC staff document. 80 FR
35939 (June 23, 2015).
In December 2016, the CDC released the NHANES 2013/14 data cycle.
CPSC staff prepared a document with staff's analysis of the NHANES
2013/14 data cycle titled, ``Estimated Phthalate Exposure and Risk to
Women of Reproductive Age as Assessed Using 2013/2014 NHANES
Biomonitoring Data.'' See https://www.cpsc.gov/s3fs-public/Estimated%20Phthalate%20Exposure%20and%20Risk%20to%20Women%20of%20Reproductive%20Age%20as%20Assessed%20Using%202013%202014%20NHANES%20Biomonitoring%20Data.pdf. The Commission published a notice of availability in
the Federal Register seeking comments on CPSC staff's February 2017
analysis of the NHANES 2013/14 data cycle. 82 FR 11348 (February 22,
2017).
D. Public Comments
The NPR, which published in the Federal Register on December 30,
2014, requested comments by March 16, 2015. 79 FR 78324 (Dec. 30,
2014). The Commission extended the comment period for an additional 30
days to April 15, 2015. 80 FR 14880 (March 20, 2015). Additionally, the
Commission requested comments on each of the staff's analyses of more
recent NHANES data. 80 FR 35939 (June 23, 2015); 82 FR 11348 (February
22, 2017). The Commission received 91 comments on the NPR and an
additional 18 comments on CPSC
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staff's reports on more recent NHANES data cycles. The comments are
available on regulations.gov under the docket: CPSC-2014-0033.
Throughout this preamble, we discuss significant issues raised by these
comments and CPSC's responses to those issues. As part of the briefing
package that CPSC staff prepared for the Commission's consideration of
this final rule, staff developed a more detailed summary of the public
comments and staff's responses. These may be found at Tab B of the
staff's briefing package: https://www.cpsc.gov/s3fs-public/Final%20Rule%20-%20Phthalates%20-%20September%2013%202017.pdf At the
end of each comment summary in this preamble, we provide, in
parentheses, the number of the relevant and more detailed comment/
response in Tab B of the staff's briefing package.
E. Final Rule
The Commission has considered the CHAP report, CPSC staff's
analyses, and comments submitted on the NPR and staff's reports
concerning later NHANES data cycles. CPSC staff prepared a briefing
package for the Commission that provides staff's analysis of these
materials and gives staff's recommendations for the final rule. Staff's
briefing package is available at: https://www.cpsc.gov/s3fs-public/Final%20Rule%20-%20Phthalates%20-%20September%2013%202017.pdf Based on
consideration of these materials, the Commission issues this final
rule, which is substantially the same as the proposed rule.
In the interest of clarity, the final rule restates the CPSIA's
permanent prohibition on the manufacture for sale, offer for sale,
distribution in commerce, or importation into the United States of any
children's toys and child care articles that contain concentrations of
more than 0.1 percent of DEHP, DIBP, or BBP.
The final rule continues the interim prohibition concerning DINP
and expands that restriction to prohibit all children's toys (not just
those that can be place in a child's mouth) and child care articles
that contain concentrations of more than 0.1 percent of DINP. After
reviewing the information presented by the CHAP, CPSC staff, and
commenters, the Commission concludes that continuing the interim
prohibition regarding DINP will ensure a reasonable certainty of no
harm to children, pregnant women, or other susceptible individuals with
an adequate margin of safety. The Commission also determines that
expanding the prohibition regarding DINP to cover all children's toys,
not just those that can be placed in a child's mouth, is necessary to
protect the health of children.
The final rule also prohibits children's toys and child care
articles that contain concentrations of more than 0.1 percent of DIBP,
DPENP, DHEXP, and DCHP. After reviewing the information presented by
the CHAP, CPSC staff, and commenters, the Commission concludes that
this restriction on the four additional phthalates is necessary to
protect the health of children.
The final rule adds a paragraph, not in the proposed rule, that
repeats the statutory provision stating that the phthalates
prohibitions apply to plasticized component parts of children's toys
and child care articles, or other component parts of those products
that are made of materials that may contain phthalates. See 15 U.S.C.
2057c(c). This addition does not make any substantive change, but it
provides clarity by placing this statutory language in the regulation.
As was proposed, the final rule will take effect 180 days after
publication in the Federal Register and will apply to products
manufactured or imported on or after that date. The Commission's
rationale for the final rule is explained in the following sections of
this preamble.
II. Legal Authority
A. Summary of Legal Authority
Section 108 of the CPSIA provides the legal authority for this
rule. As directed by section 108(b)(2), the Commission convened a CHAP
to study the effects on children's health of phthalates and phthalate
alternatives. The CPSIA directs the CHAP to examine ``the full range of
phthalates that are used in products for children,'' and to consider
numerous issues specified in the statute (discussed further in section
III.A of this preamble). As required by section 108(b)(2)(C), the CHAP
prepared a report for the Commission that included recommendations to
the Commission concerning any phthalates not already subject to the
permanent prohibition or phthalate alternatives that should be
prohibited. 15 U.S.C. 2057c(b)(2)(C).
The CPSIA further directs that, within 180 days of receiving the
CHAP's report, the Commission shall promulgate a final rule in
accordance with section 553 of the APA. The Commission must
``determine, based on such report, whether to continue in effect the
[interim] prohibition . . ., in order to ensure a reasonable certainty
of no harm to children, pregnant women, or other susceptible
individuals with an adequate margin of safety.'' Id. 2057c(b)(3)(A).
Additionally, the Commission must ``evaluate the findings and
recommendations of the Chronic Hazard Advisory Panel and declare any
children's product containing any phthalates to be a banned hazardous
product under section 8 of the Consumer Product Safety Act (15 U.S.C.
2057), as the Commission determines necessary to protect the health of
children.'' Id. 2057c(b)(3)(B).
A violation of the permanent or interim prohibitions or any rule
the Commission subsequently issues under section 108(b)(3) ``shall be
treated as a violation of section 19(a)(1) of the Consumer Product
Safety Act.'' Id. 2057c(e). Additionally, section 108(f), concerning
preemption, states that the permanent and interim prohibitions and the
Commission's phthalates rule ``shall be considered consumer product
safety standards under the Consumer Product Safety Act.'' Id. 2057c(f).
Section 108 of the CPSIA sets out the criteria for the Commission's
determinations in this rulemaking. Regarding phthalates subject to the
interim prohibition, the Commission is to determine, based on the CHAP
report, whether their continued regulation is needed ``to ensure a
reasonable certainty of no harm . . . with an adequate margin of
safety.'' Regarding other children's products and other phthalates, the
Commission is to evaluate the CHAP report and determine whether
additional restrictions are ``necessary to protect the health of
children.'' 15 U.S.C. 2057c(b)(3). Congress required the Commission to
use these criteria for the phthalates rulemaking.
B. Comments Regarding Legal Authority
Comments raised various issues concerning the Commission's legal
authority for this rulemaking. These comments focused primarily on: The
CPSIA's requirements for the CHAP, the CPSIA's requirements for the
rulemaking, relevance of (and compliance with) the Information Quality
Act (IQA), and compliance with requirements of the Administrative
Procedure Act (APA). This section summarizes and responds to key issues
raised by comments related to the Commission's legal authority. Tab B
of staff's briefing package provides a more detailed discussion of the
comments and responses. https://www.cpsc.gov/s3fs-public/Final%20Rule%20-%20Phthalates%20-%20September%2013%202017.pdf?nArsRDzq81e90J4Re2BFAzjdQHxq8Mh_.
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1. The Information Quality Act
Comment: IQA Applicability: Several commenters asserted that the
CHAP report and the phthalates rulemaking must comply with the Office
of Management and Budget's (OMB's) Guidelines issued under the IQA and
CPSC's guidelines. The commenters stated that the OMB's IQA Guidelines
require that agencies' disseminations meet a basic standard of quality
for objectivity, utility and integrity, and that these requirements
apply to the CHAP report and to CPSC's rulemaking. The commenters also
asserted that the CHAP report is ``influential'' under the IQA
Guidelines because it meets the OMB standard for influential, i.e., has
``a clear and substantial impact on important public policies or
private sector decisions.''
Response: The IQA, Public Law 106-554, required OMB to draft
guidelines regarding ``the quality, objectivity, utility, and integrity
of information . . . disseminated by Federal agencies'' and required
each agency to issue its own guidelines. OMB issued ``Guidelines for
Ensuring and Maximizing the Quality, Objectivity, Utility, and
Integration of Information Disseminated by Federal Agencies'' (OMB
Guidelines), 67 FR 8452. The CPSC issued its Information Quality
Guidelines (CPSC Guidelines) in October 2002, which substantially
follow OMB's Guidelines.\2\ As provided in CPSC's Guidelines, we are
responding to comments on the NPR to address a commenter's request for
correction under the IQA.
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\2\ CPSC Information Quality Guidelines. Available at: https://www.cpsc.gov/en/Research--Statistics/Information-Quality-Guidelines/.
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OMB's Guidelines apply to federal agencies that are subject to the
Paperwork Reduction Act (PRA), 42 U.S.C. chapter 35. 67 FR 8453. This
includes the CPSC. Both OMB's and CPSC's Guidelines apply to
information that the agency ``disseminates.'' OMB's Guidelines define
the term ``dissemination'' to mean ``agency initiated or sponsored
distribution of information to the public,'' with several exclusions.
Under OMB's Guidelines, if an agency releases information prepared by
an outside party, but the agency then distributes the information ``in
a manner that reasonably suggests that the agency agrees with the
information, this appearance of having the information represent agency
views makes agency dissemination of the information subject to the
guidelines.'' 67 FR 8454. As the commenters noted, the CHAP report was
not prepared by CPSC but by a third party. However, in the NPR, CPSC
based its recommendations on the CHAP report as required by section 108
of the CPSIA. Thus, we agree that OMB's and CPSC's Guidelines apply to
the CHAP report.
As discussed in the following comments/responses, OMB's Guidelines
require agencies to adopt a basic standard of information quality that
includes ``objectivity, utility, and integrity.''
OMB's Guidelines define ``influential'' as:
``Influential'', when used in the phrase ``influential
scientific, financial, or statistical information'', means that the
agency can reasonably determine that dissemination of the
information will have or does have a clear and substantial impact on
important public policies or important private sector decisions.
Each agency is authorized to define ``influential'' in ways
appropriate for it given the nature and multiplicity of issues for
which the agency is responsible.
67 FR 8460. The definition of ``influential'' places significant
emphasis on the agency's discretion to determine what information is
influential. The OMB Guidelines state that influential information is
held to a higher standard and must have a high degree of transparency.
Even if the CHAP report is considered ``influential,'' it met the OMB
Guidelines' provisions for such documents. As explained throughout this
document, the CHAP was transparent about its data sources and
processes. See the following comments and responses. (Comments 8.1 and
8.2).
Comment: Objectivity of CHAP report. Commenters asserted that the
CHAP Report (and by extension, the rulemaking) does not meet the IQA
Guidelines' standard of ``objectivity.'' In addition, the commenters
argued that, because the CHAP Report is influential information
regarding risks to health, safety, or the environment, it ``must be
based on requirements drawn from the Safe Drinking Water Act (SDWA), to
use `the best available, peer-reviewed science and supporting studies
conducted in accordance with sound and objective scientific practices;
and . . . data collected by accepted methods or best available methods
. . . .' '' (Comment 8.3).
Response: The OMB Guidelines state: `` `Objectivity' includes
whether disseminated information is being presented in an accurate,
clear, complete, and unbiased manner.'' 67 FR 8459. According to the
OMB Guidelines, this involves presenting the information within a
proper context and identifying the sources of the information. Id. The
OMB Guidelines further state: ``In addition, `objectivity' involves a
focus on ensuring accurate, reliable, and unbiased information.'' In a
scientific context, this means ``using sound statistical and research
methods.'' Id.
The CHAP report met the ``objectivity'' standard enunciated in the
OMB Guidelines. The fact that the commenters might have conducted the
analysis differently does not mean that the CHAP's analysis was not
``objective.'' The CHAP report clearly set forth its data sources and
noted that to assess studies, it used the criteria of reliability,
relevance, and adequacy established by the Organisation for Economic
Cooperation and Development. CHAP report at pp. 13-14. The CHAP held
open meetings during the process of developing its analysis, inviting
experts to present their latest research findings and taking
submissions of a large volume of written material. The CHAP members
were selected in accordance with section 28 of the CPSA through a
process to ensure their independence from bias (e.g., nominated by
National Academy of Sciences; free from compensation by or substantial
financial interest in a manufacturer, distributor or retailer of a
consumer product; not employed by the federal government, with certain
scientific/research related exceptions). The CHAP explained its
choices, such as the decision to focus on the effects on male
reproductive development, and the CHAP noted that this approach was
consistent with a National Research Council (NRC) report.\3\ Similarly,
the CHAP explained its decision to conduct a cumulative risk assessment
and explained the methodology that it used which, again, was consistent
with one of the methods discussed in the NRC report.
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\3\ NRC (2008).
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For an analysis of risks to human health, safety, and the
environment that an agency disseminates, OMB's Guidelines direct
agencies to ``adapt or adopt'' the information quality principles of
the SDWA. 67 FR 8460. The SDWA directs agencies to use: `` (i) The best
available, peer-reviewed science and supporting studies conducted in
accordance with sound and objective scientific practices; and (ii) data
collected by accepted methods or best available methods (if the
reliability of the method and the nature of the decision justifies use
of the data).'' Id. at 8457. The SDWA direction is very similar to the
charge to the CHAP in section 108, which states, among other things,
that the CHAP is to ``review all relevant data, including the most
recent best available, peer reviewed, scientific studies of these
phthalates and phthalate alternatives
[[Page 49942]]
that employ objective data collection practices or employ other
objective methods.'' 15 U.S.C. 2057c(b)(2)(B)(v). As our discussion in
section III of this preamble demonstrates, the CHAP report met this
direction.
Comment: IQA deficiencies as basis to invalidate rule. A commenter
asserted that the CHAP report had numerous methodological flaws that
violated the IQA and that these deficiencies would invalidate the
phthalates rulemaking unless they are corrected because the proposed
rule was premised almost entirely on the CHAP report. The commenter
further asserted that OMB's IQA Guidelines are ``binding'' on agencies.
(Comment 8.4).
Response: Elsewhere in this document and in Tab B of staff's
briefing package, staff responds to the specific methodological
``flaws'' the commenter identifies. Regarding the legal point, we note
that OMB's Guidelines are not legally enforceable requirements--
guidelines, which are essentially interpretive rules, by their nature
do not establish binding requirements. See, e.g., U.S. Iowa League of
Cities v. EPA, 711 F.3d 844, 873 (8th Cir., 2013) (``interpretive rules
do not have the force of law''). Notably, the IQA directed OMB to
``issue guidelines . . . that provide policy and procedural guidance to
Federal agencies.'' The IQA did not direct OMB or agencies to undertake
substantive legislative rulemaking. Consolidated Appropriations Act of
2001, Public Law 06-554, 515 (codified at 44 U.S.C. 3516 Note). OMB's
Guidelines repeatedly stress their flexibility, noting that they are
not intended to be ``prescriptive, `one-size-fits-all' '' and that OMB
intends for agencies to ``apply them in a common-sense and workable
manner.'' 67 FR at 8452-53. The IQA established a binding requirement
that OMB issue guidelines and that each agency that is subject to the
PRA must issue its own guidelines, but the guidelines themselves do not
bind agencies. Courts that have examined the question of the legal
status of the IQA have found that the IQA (and thus necessarily, OMB's
guidelines) ``creates no legal rights in any third parties.'' Salt
Inst. v. Leavitt, 440 F.3d 156, 159 (4th Cir. 2006). See Mississippi
Comm. on Environmental Quality v. EPA, 790 F.3d 138 (D.C. Cir. 2015)
(dismissing argument that IQA created a legal requirement for EPA to
use ``best available science and supporting studies'').
2. CPSIA Requirements for the CHAP
Comment: Review of all relevant data. Several commenters noted that
the CPSIA directed the CHAP to ``review all relevant data, including
the most recent, best available . . . scientific studies . . . that
employ objective data collection practices.'' A commenter asserted that
the CHAP's ``selective use and systematic mischaracterization of the
data'' did not meet this requirement. Commenters argued that the CHAP's
reliance on the 2005/2006 NHANES data set, rather than later data sets
that were available to the CHAP before the CHAP's stopping point (2007/
2008, 2009/2010 and 2011/2012 data sets), violated the CPSIA's
direction to review ``all relevant data'' and to include ``the most
recent'' studies. The commenters asserted that the CHAP's failure to
rely on later data sets is particularly important because, due to the
drop in DEHP exposures, there has been a significant decline in total
risk. One commenter asserted that the CHAP had ignored 32 relevant
publications on phthalates. Other commenters stated that the CHAP's
analysis ``represents the cutting edge and most current and best
available science,'' a significant improvement over methodologies
currently used for government review of chemical risk that considered
one chemical at a time. (Comments 7.8, 8.17, and 10.2).
Response: The CHAP used 2005/2006 NHANES data on pregnant women to
assess phthalate exposure as part of the CHAP's cumulative risk
analysis, to satisfy the CPSIA's charge to ``examine the likely levels
of children's, pregnant women's, and others' exposure to phthalates . .
. '' 15 U.S.C. 2057c(b)(2)(B)(iii). This data set was the most recent
data on pregnant women available at the time the CHAP completed its
analysis in July 2012, CHAP report at p. 31, and it was the last data
set to include a larger sample of pregnant women. CPSC staff
subsequently analyzed NHANES WORA data from 2007/2008 through 2013/2014
using the CHAP's analytical methodology.
The CHAP considered new scientific information published up to the
end of 2012, and used standard and acceptable methods for study review,
conducting an unbiased literature search and publication identification
and in-depth review and reporting of the most important publications.
Specifically, the CHAP included many elements of systematic review
methods in its work. The CHAP used a defined literature search strategy
and limited the search to studies published through 2012. The CHAP
considered the quality, relevance, and weight of evidence (WOE) of
individual studies. The CHAP described criteria for evaluating
published studies, CHAP report at pp. 19-23, and the CHAP ensured that
all studies and data were publicly available. The CHAP also described
the criteria used to formulate its recommendations on individual
phthalates and phthalate alternatives. Id. at p. 79. The CHAP criteria
included review of animal and human data, weight of evidence, study
replication, human exposure, hazard, and risk. Id. at pp. 82-142. The
CHAP conducted a thorough review of a large body of literature on a
complex environmental health question using appropriate methods.
All current scientific publications and NHANES data sets have been
analyzed by the CHAP and CPSC staff in preparation for the final rule.
This fulfills the CPSIA's directive to review ``all relevant data'' and
to include ``the most recent'' studies.
Regarding the assertion that the CHAP ignored 32 relevant
publications, CPSC staff reviewed this claim. The CHAP cited
approximately 250 articles using a systematic approach to select the
most relevant and informative articles. Five of the 32 articles the
commenter identified are not relevant because they considered effects
that are not relevant to the CHAP's focus on male reproductive
development (e.g., onset of puberty in girls, estrogenic effects); they
measured exposure, but not health effects; or did not accurately
reflect exposure. The other 27 articles were review articles (which are
considered secondary sources), several of which covered broad topics
such as environmental chemicals. Staff's more detailed assessment of
these publications is provided in the response to comment 7.8 at Tab B
of the staff's briefing package.
Comment: Foreseeable use and likely exposure. Several commenters
noted that the CPSIA required the CHAP to ``examine the likely levels
of children's, pregnant women's, and others' exposure to phthalates,
based on a reasonable estimation of normal and foreseeable use and
abuse of such products.'' Commenters asserted that the CHAP failed to
meet this requirement because the CHAP ignored the more recent data
that shows a significant drop in DEHP exposure and the CHAP included
permanent prohibitions involving phthalates in the analysis. (Comment
8.18).
Response: As explained, the 2005/2006 NHANES dataset that the CHAP
used was the most recent data on pregnant women available at the time
the CHAP completed its analysis in July 2012, CHAP report at p. 31, and
included a larger sample of pregnant women. CPSC staff has since
analyzed more recent NHANES data using the
[[Page 49943]]
same methodology used by the CHAP and using WORA as a surrogate for
pregnant women because an insufficient number of pregnant women were
sampled in the later data sets. The final rule considers the most
recent NHANES data, as well as the CHAP report.
In accordance with the CPSIA's direction to the CHAP, the CHAP's
cumulative risk analysis estimated phthalate exposure from all
phthalates and all sources, not only toys and child care articles.
Because the CPSIA prohibition covers only children's toys and child
care articles, exposures to DEHP, DBP, and BBP still occur from other
sources. Thus, the CHAP and subsequent staff analyses provide a robust
assessment of the ``likely levels'' of current exposures to phthalates.
Comment: CPSIA direction to CHAP to conduct a cumulative risk
assessment. One commenter stated that the CPSIA did not require the
CHAP to conduct a cumulative risk assessment; the CHAP could have
considered cumulative effects in a more general (qualitative) way.
Other commenters asserted that a cumulative risk assessment was well
within the CPSIA's direction to the CHAP, noting that the CPSIA
provided a clear mandate to ``review the toxicity of phthalates
cumulatively'' and to consider ``the exposure to all sources of these
chemicals.'' One comment from a group of commenters stated Congress
specifically required the cumulative risk analysis. (Comment 8.19).
Response: Several provisions in section 108(b)(2) called on the
CHAP to consider cumulative effects of phthalates. Specifically, the
statute directed the CHAP to:
``Study the effects on children's health of all phthalates
and phthalate alternatives as used in children's toys and child care
articles'';
``consider the potential health effects of each of these
phthalates both in isolation and in combination with other
phthalates''; and
``consider the cumulative effects of total exposure to
phthalates, both from children's products and from other sources, such
as personal care products.''
Thus, the CPSIA required the CHAP to use some method to evaluate the
health effects of multiple phthalates from multiple products. The
statute did not specify that the only way to do this was through a
cumulative risk assessment. However, nothing in the statute prohibited
the CHAP from conducting a cumulative risk assessment. As explained in
the CHAP report, and in the NPR, based on the CHAP's knowledge and
expertise, the CHAP decided that a cumulative risk assessment was the
most appropriate method to fulfill the direction given to the CHAP.
Furthermore, the CHAP used a cumulative risk assessment approach that
was consistent with recommendations from a National Academy of Sciences
committee that was convened specifically to consider methods for
assessing the cumulative risks from phthalates. Thus, the CHAP used its
judgment and provided an explanation for its reasonable choice.
Comment: Applicability of the Federal Hazardous Substances Act. A
commenter argued that the CPSIA required the CHAP to present its
analysis in terms of the criteria stated in the FHSA, and the commenter
asserted that the CHAP failed to do so. Similarly, a commenter asserted
that the CHAP's risk assessment improperly included consideration of
exposures to substances that are excluded from the FHSA's definition of
``hazardous substance,'' such as foods and drugs. 15 U.S.C. 1261(f)(2).
(Comments 8.27 through 8.29).
Response: The commenter bases its argument that the CHAP should
have followed FHSA criteria on a phrase in CPSIA section 108 that also
appears in the FHSA. However, neither section 108 nor the legislative
history of that provision mentions the FHSA. Rather, section
108(b)(2)(B) provides detailed direction to the CHAP about the criteria
that the CHAP is to consider in its examination. Moreover, section
108(f) states clearly that the statutory prohibitions and the
Commission's future phthalates rule ``shall be considered consumer
product safety standards under the Consumer Product Safety Act.'' It is
not logical that Congress would expect the CHAP to apply FHSA criteria
(without mentioning that statute) to provide a report to the Commission
for a rule that is to be treated as a rule under the CPSA. In fact,
section 108 established a unique procedure for phthalates, making it
clear that Congress did not intend for the Commission to undertake
rulemaking under the FHSA. The CHAP and the Commission followed the
specific process and criteria set forth in section 108. The direction
to the CHAP explicitly requires the CHAP to consider phthalates that
are in products outside the CPSC's jurisdiction, directing the CHAP to
consider effects ``both from children's products and from other
sources, such as personal care products.'' 15 U.S.C.
2057c(b)(2)(B)(iv). Many personal care products are considered
cosmetics and are under the jurisdiction of the U.S. Food and Drug
Administration (FDA). Congress thus intended for the CHAP's examination
to be broader than just products under CPSC's authority, even though
CPSC's rulemaking applies only to products under CPSC's jurisdiction.
3. CPSIA's Requirements for the Rulemaking
Comment: Commission's role regarding the CHAP report. Comments
questioned the Commission's reliance on the CHAP report in the NPR.
Commenters asserted that the Commission cannot merely codify or
``rigidly adhere'' to the CHAP report without applying the Commission's
own judgment. To do so, they argued, would raise serious Constitutional
questions by vesting government powers in a private entity and would
also conflict with the CPSIA and sections 28 and 31 of the CPSA (e.g.,
the word ``advisory'' in the CHAP). Another commenter stated that CPSC
acted appropriately on the CHAP report, noting that ``CPSC made its own
decision, issued its own proposed rule, and solicited public comment
from industry and others on its proposed rule.'' (Comment 8.20).
Response: Section 108(b)(3) of the CPSIA requires that the
Commission's rule concerning the interim prohibition be ``based on''
the CHAP report and requires the Commission to evaluate the findings
and recommendations of the CHAP to determine whether to prohibit any
other children's products containing any other phthalates. We agree
that the statutory language does not require rigid adherence to the
CHAP report and that the Commission cannot simply ``rubber-stamp'' the
CHAP's recommendations. Rather, the CHAP report is advisory, and the
Commission must use its judgment to decide on appropriate regulatory
action in accordance with the specific criteria stated in section
108(b)(3)(A) and (B) and must consider public comments that the
Commission received. This is exactly the process the Commission
followed. The NPR summarized the CHAP report, including the CHAP's
recommendations. 79 FR 78326-78330. The NPR presented CPSC staff's
evaluation of the CHAP report and the Commission's assessment of the
CHAP's recommendations. Id. 78330-78338. Additionally, CPSC staff
reviewed more recent NHANES data and conducted an analysis of the
CHAP's evaluation of exposure data. Staff reviewed and considered the
comments submitted in response to the NPR and the NHANES data analysis
to develop recommendations to the Commission. All of this information
provides the
[[Page 49944]]
basis for the Commission's decision on the final rule.
Comment: Meaning of ``reasonable certainty of no harm.'' Several
commenters addressed the meaning of the phrase ``reasonable certainty
of no harm.'' Some commenters asserted that the standard must be
interpreted in the context of CPSC's other statutes and case law. In
this view, the phrase essentially means ``reasonably necessary to
prevent or reduce an unreasonable risk of injury,'' as would be
required for a consumer product safety rule the Commission issues under
sections 7, 8 and 9 of the CPSA. Commenters also discussed the level of
certainty required for a ``reasonable certainty of no harm.'' One
commenter noted that the FDA uses a similar standard for food
additives. One commenter stated that in the NPR, the CPSC has applied
the standard essentially to require absolute certainty. In contrast,
another commenter emphasized that the CPSIA calls for ensuring a
```reasonable certainty of no harm' (emphasis added).'' (Comments 8.14,
8.22, 8.23, and 8.25).
Response: The requirements stated in section 108(b)(3) of the
CPSIA, rather than sections 7, 8 and 9 of the CPSA, apply to this
rulemaking. For the Commission to issue a consumer product safety rule
under sections 7, 8 and 9 of the CPSA, the Commission must determine
that the product presents an unreasonable risk of injury and that a
rule is necessary to reduce or prevent the unreasonable risk. The term
``unreasonable risk'' does not appear anywhere in the criteria stated
in section 108(b)(3) that the Commission is to use to determine
appropriate phthalate regulations. Nothing in the legislative history
of section 108 indicates that Congress intended the Commission to make
``unreasonable risk'' determinations. Nor is there any indication that
Congress intended that the case law related to the Commission's rules
issued under sections 7, 8 and 9 of the CPSA would apply to the
phthalates rulemaking.
We are aware of two other statutory schemes that use somewhat
similar language. The Food Quality Protection Act (FPQA) uses a similar
phrase regarding tolerance levels for pesticide residue on food. That
provision requires the U.S. Environmental Protection Agency (EPA) to
``ensure that there is a reasonable certainty that no harm will result
to infants and children from aggregate exposure to the pesticide
chemical residue.'' 21 U.S.C. 346a(b)(2)(A)(ii)(I). Under the Federal
Food, Drug, and Cosmetic Act (FDCA), food additives must be ``safe.''
21 U.S.C. 348. FDA has issued regulations that define ``safe or
safety'' to mean ``that there is a reasonable certainty in the minds of
competent scientists that the substance is not harmful under the
intended conditions or use.'' In a very general sense, CPSC's approach
on phthalates is consistent with FDA and EPA in that CPSC's evaluation
is based on expert scientific opinion (the CHAP), takes into account
the cumulative effect of the substance at issue (phthalates), and
provides appropriate safety factors (e.g., for inter- and intra-species
uncertainties). However, because the pesticide tolerance and food
additive schemes differ significantly from the CPSIA's phthalates
provision, FDA's and EPA's approaches do not provide CPSC with more
specific guidance on ``reasonable certainty of no harm.''
Regarding the level of certainty required, the language ``ensure a
reasonable certainty of no harm . . . with an adequate margin of
safety'' calls for a highly protective standard, but not 100 percent
certainty of no harm. Congress required ``a reasonable certainty of no
harm,'' not an absolute certainty of no harm.
4. The APA's Requirements
Comment: Data and the CPSC's obligation under the APA. Some
commenters argued that the Commission's reliance on certain data
violated the APA. One commenter asserted that the NPR's reliance on
``decade-old data'' is not reasonable, and therefore, violates the APA.
Some commenters stated that because the NPR ``rests on outdated data,''
CPSC should withdraw the NPR, conduct a reanalysis with current
exposure data, and re-propose the rule with a new comment period. In
comments on CPSC staff's analysis of recent NHANES data, a commenter
asserted that under the APA, ``the Commission has an obligation to
disregard the CHAP's report to the extent it is incorrect,
unreasonable, inconsistent with existing CPSC policy, practice,
regulations or governing statutes, or is based on data that is outdated
or of poor quality.'' The commenter set out the minimum requirements of
informal rulemaking: Adequate notice, sufficient opportunity for public
to comment, and a final rule that is not arbitrary and capricious.
(Comments 8.12 and 8.13).
Response: The NPR's reliance on the CHAP report and the data the
CHAP used did not violate the APA. Rather, the Commission followed the
CPSIA's direction to base the rulemaking on the CHAP report. As
commenters requested, staff subsequently considered updated exposure
data. As the CPSIA requires, the Commission's proposal regarding the
interim prohibition was ``based on the CHAP report,'' and in addition,
the Commission evaluated the CHAP report to determine whether to
prohibit any children's products containing any other phthalates.
Additionally, as required by the CPSIA, the Commission followed the
notice and comment procedures of the APA. For the final rule staff
considered more recent exposure data than the CHAP used. Several
commenters asked the Commission to do this additional work. Staff
conducted two analyses of more recent NHANES biomonitoring data sets,
posted reports of staff analyses on the CPSC Web site, and the
Commission requested public comment on each analysis. 80 FR 35938 (June
23, 2015) and 82 FR 11348 (February 22, 2017). We agree that under
section 553 of the APA, the Commission must evaluate the CHAP report
along with comments submitted in response to the proposed rule and
engage in reasoned decision making to issue a final rule. This is the
approach the agency has taken. The Commission provided adequate notice
in the NPR (describing the CHAP report, providing staff's evaluation of
the CHAP report and explanation of, and reasons for, the proposed
rule); provided sufficient opportunity for the public to comment (even
extending the comment period and obtaining comment on the two staff
reanalysis documents); and the Commission explains its reasoning for
the final rule in this preamble and supporting documents.
Comment: Restriction involving DINP and compliance with APA: A
commenter asserted that continuing the interim prohibition involving
DINP is arbitrary and capricious (in violation of the APA) because:
There is a reasonable certainty of no harm without such a
prohibition (due to permanent prohibition involving DEHP);
DINP contributes only a small fraction to overall risk;
the endpoint of antiandrogenicity is likely inappropriate;
it is questionable that DINP should be included in a
cumulative risk assessment;
it is questionable that a cumulative risk assessment
provides a reasonable basis for a regulatory decision;
DEHP levels have dropped so that the Hazard Index (HI) is
now well below one; and
even using the 2005/2006 NHANES data, the contribution of
DINP to the overall HI is minimal and the major source of exposures is
diet--children's products account for only a small fraction of overall
HI.
[[Page 49945]]
In contrast, another commenter stated that the CHAP's
recommendation and the Commission's proposal to permanently prohibit
children's toys and child care articles containing more than 0.1
percent of DINP are justified. The commenter stated that data
indicating that DINP is a potential health risk have gotten stronger
since release of the CHAP report. (Comment 8.16).
Response: In general, the APA requires that agencies' rulemaking be
based on reasoned decision making. Staff's briefing package explains
the reasons for staff's recommendations, satisfying this threshold
requirement. The specific issues the commenter raised about regulation
of DINP and the apparent reductions over time in exposure to DEHP are
addressed in detail in section IV.D.1.a. of this preamble.
III. The CHAP
A. CPSIA Direction
The CPSIA directed the Commission to convene a CHAP ``to study the
effects on children's health of all phthalates and phthalate
alternatives as used in children's toys and child care articles.'' 15
U.S.C. 2057c (b)(2). The statute provides very specific direction to
the CHAP regarding its work. The CHAP must:
Complete an examination of the full range of phthalates that are
used in products for children and shall--
examine all of the potential health effects (including
endocrine disrupting effects) of the full range of phthalates;
consider the potential health effects of each of these
phthalates both in isolation and in combination with other phthalates;
examine the likely levels of children's, pregnant women's,
and others' exposure to phthalates, based on a reasonable estimation of
normal and foreseeable use and abuse of such products;
consider the cumulative effect of total exposure to
phthalates, both from children's products and from other sources, such
as personal care products;
review all relevant data, including the most recent, best-
available, peer-reviewed, scientific studies of these phthalates and
phthalate alternatives that employ objective data collection practices
or employ other objective methods;
consider the health effects of phthalates not only from
ingestion but also as a result of dermal, hand-to-mouth, or other
exposure;
consider the level at which there is a reasonable
certainty of no harm to children, pregnant women, or other susceptible
individuals and their offspring, considering the best available
science, and using sufficient safety factors to account for
uncertainties regarding exposure and susceptibility of children,
pregnant women, and other potentially susceptible individuals; and
consider possible similar health effects of phthalate
alternatives used in children's toys and child care articles.
Id. 2057c(b)(2)(B). In its final report, the CHAP is required to
recommend to the Commission whether any ``phthalates (or combinations
of phthalates)'' in addition to those permanently prohibited, including
the phthalates covered by the interim prohibition or phthalate
alternatives, should be declared banned hazardous substances. Id.
2057c(b)(2)(C).
B. The CHAP's Process
The CHAP's process was open and transparent. The CHAP met in public
session (and webcast) seven times and met via teleconference (also open
to the public) six times.\4\ A record of the CHAP's public meetings,
including video recordings and information submitted to the CHAP, as
well as the final CHAP report, are available on the CPSC Web site.\5\
---------------------------------------------------------------------------
\4\ The CHAP met in one closed meeting as part of the peer
review process, January 28-29, 2015.
\5\ https://www.cpsc.gov/chap.
---------------------------------------------------------------------------
At a meeting on July 26-28, 2010, the CHAP heard testimony from the
public, including testimony from federal agency representatives, who
discussed federal activities on phthalates. The CHAP also invited
experts to present their latest research findings at the meeting in
July 2010 and during subsequent meetings. Members of the public who
presented testimony to the CHAP at the July 2010 meeting included
manufacturers of phthalates and phthalate substitutes, as well as
representatives of non-governmental organizations. In addition to oral
testimony, the manufacturers and other interested parties submitted an
extensive volume of toxicity and other information to the CHAP and the
CPSC staff. All submissions given to CPSC staff were provided to the
CHAP.
Although the CPSIA did not require peer review of the CHAP's work,
at the CHAP's request, four independent scientists peer reviewed the
draft CHAP report. CPSC staff applied the same criteria for selecting
the peer reviewers as is required for the CHAP members.\6\ The CHAP
report was due to the Commission on April 8, 2012. The CHAP submitted
the final report to the Commission on July 18, 2014.
---------------------------------------------------------------------------
\6\ Peer reviewers were nominated by the National Academy of
Sciences. Peer reviewers did not receive compensation from, nor did
they have a substantial financial interest in, any of the
manufacturers of the products under consideration. In addition, the
peer reviewers were not employed by the federal government, except
the National Institutes of Health, the National Toxicology Program,
or the National Center for Toxicological Research.
---------------------------------------------------------------------------
C. The CHAP Report
1. Health Effects
The CHAP reviewed all of the potential health effects of
phthalates. The CHAP explained that, although phthalates cause a wide
range of toxicities, the CHAP focused on male reproductive
developmental effects (MRDE) in part because this is the most sensitive
and extensively studied endpoint for phthalates. The CHAP noted that
this focus was consistent with a 2008 report from the National Research
Council.\7\ The CHAP systematically reviewed literature on phthalate
developmental and reproductive toxicology. CHAP report, at pp. 1-2 and
12-13. The CHAP found that ``[s]tudies conducted over the past 20 years
have shown that phthalates produce a syndrome of abnormalities in male
offspring when administered to pregnant rats during the later stages of
pregnancy.'' Id. at p. 15. The CHAP explained its approach to selection
of data so that its analysis would be based on the most appropriate and
reliable toxicological data. Id. at pp. 19-22. The CHAP stated that
this collection of interrelated abnormalities, known as the ``rat
phthalate syndrome,'' is characterized by various effects on the male
reproductive system: Malformations of the testes, prostate, and penis
(hypospadias); undescended testes; reduced anogenital distance (AGD),
and retention of nipples.\8\ Male pups also have reduced fertility as
adults. The CHAP noted that only certain phthalates produce these
abnormalities, phthalates with certain structural characteristics
(three to seven, or eight, carbon atoms in the backbone of the alkyl
side chain). The CHAP referred to these phthalates as ``active'' or
``antiandrogenic'' phthalates. Id. at pp. 15-16.
---------------------------------------------------------------------------
\7\ NRC recommended, for example, that it is appropriate to
perform a phthalate cumulative risk assessment for MRDE (phthalate
syndrome); the cumulative risk assessment should consider all
endpoints associated with MRDE or, alternatively, one sensitive
endpoint such as reductions in testosterone. NRC also recommended
using dose addition, a hazard index approach, assuming that mixture
effects occur at low-doses, and including other (non-phthalate)
antiandrogens.
\8\ Nipple retention does not normally occur in rodents, as it
does in humans.
---------------------------------------------------------------------------
The CHAP noted that, although there is a great deal of information
on
[[Page 49946]]
phthalate syndrome in rats, there is relatively little on the phthalate
syndrome in other animal species. The CHAP reviewed the existing data-
exposing species, such as rabbits, mice, and marmosets, to phthalates.
The CHAP concluded that these studies with animals other than rats show
that most animals tested are more resistant to phthalates than rats,
but due to the limitations on these studies (e.g., small number of
animals exposed, only one phthalate, only one dose, high experimental
variation), the CHAP found that ``studies in rats currently offer the
best available data for assessing human risk.'' Id. at p. 18.
The CHAP reviewed, and discussed in its report, studies examining
the mechanism by which phthalates produce adverse effects. The CHAP
concluded that the phthalate syndrome effects are largely due to the
suppression of testosterone production, as well as reduced expression
of the insulin-like hormone 3 gene. Id. at pp. 18-19.
In addition to studies on animals, the CHAP also reviewed studies
on the effect that exposure to phthalates has on human health
(epidemiological studies). The CHAP noted that rat phthalate syndrome
resembles testicular dysgenesis syndrome (TDS) in humans. TDS includes
poor semen quality, reduced fertility, testicular cancer, undescended
testes, and hypospadias.\9\ CHAP report at p. 2. The CHAP concluded
that studies provide human data linking prenatal exposure to phthalates
with certain effects on male reproductive development (such as reduced
anogenital distance,\10\ reduced sperm quality and infertility in male
infants). In addition, the CHAP discussed studies that found
associations between prenatal or neonatal exposure to phthalates and
reductions in mental and psychomotor development and increases in
attention deficits and behavioral symptoms in children. Id. at pp. 27-
33; Appendix C.
---------------------------------------------------------------------------
\9\ A malformation of the penis.
\10\ Distance between the anus and genitals, which is greater in
males than in females.
---------------------------------------------------------------------------
2. Exposure
The CHAP assessed human exposure to phthalates by two different,
but complementary, methods: Human biomonitoring (HBM) and exposure-
scenario analysis. HBM relies on measurements of phthalate metabolites
in human urine to estimate exposure to phthalates. Id. at pp. 34-48;
Appendix D. The CHAP used two data sources for HBM: NHANES and the
Study for Future Families (SFF). NHANES is conducted by the CDC, and
measures phthalates and other chemicals in human urine and blood in a
statistically representative sample of thousands of U.S. residents. The
CHAP used data from NHANES to estimate phthalate exposures in pregnant
women and women of reproductive age (WORA). Because NHANES does not
measure phthalate metabolites in children younger than 6 years old, the
CHAP used measurements from the SFF to obtain exposure estimates for
infants. SFF is a study of mother-child pairs, funded by the National
Institutes of Health (NIH) and the EPA. The CHAP used this HBM data to
derive daily intake (DI) estimates to use in its risk assessment
calculations. The CHAP used the 2005/2006 NHANES data cycle in its
analysis. The SFF data are from 1999 to 2005. From the HBM data, the
CHAP concluded that ``exposure to phthalates in the United States (as
worldwide) is omnipresent. The U.S. population is co-exposed to many
phthalates simultaneously.'' Id. at p. 37. The CHAP also noted that,
because the data indicate that sources and routes of exposure among
high- and low-molecular weight phthalates are similar, it is highly
likely that substitution of one phthalate will lead to increased
exposure to another similar phthalate. Id.
The HBM data do not measure the sources of people's exposure to
phthalates. For this, the CHAP used a scenario-based exposure
assessment. Id. at pp. 49-60; Appendix E. The CHAP used estimations of
phthalate concentrations in various sources to predict exposures to
subpopulations (pregnant women/WORA, infants, toddlers, and children).
For the scenario-based exposure assessment, the CHAP estimated the DINP
exposure that would occur if DINP were allowed in children's toys and
child care articles. The CHAP found that for most phthalates, food,
rather than children's toys or child care articles, is the primary
source of exposure for women and children. The CHAP examined exposures
to various phthalates from these sources. The CHAP found that infants,
toddlers, and children were primarily exposed to DINP, DEHP, and DIDP.
For infants, exposure to DINP was primarily from diet, but exposure was
also due to DINP in teethers and toys. Id. at pp. 50-51.
3. Phthalates Risk Assessment
a. Cumulative Risk Assessment
In accordance with the CPSIA's direction, the CHAP considered
health effects of phthalates ``in combination with other phthalates.''
15 U.S.C. 2057c(b)(2)(B)(ii). The CHAP found, based on published
studies, that active phthalates act in an additive fashion. That is,
exposures to multiple phthalates at lower doses act in concert to
produce the same effect as a higher dose of a single phthalate. The
CHAP stated: ``Experimental data on combination of effects of
phthalates from multiple studies (e.g., Howdeshell et al. (2008))
provide strong evidence that dose addition can produce good
approximations of mixture effects when the effects of all components
are known.'' Id. at p. 61. The CHAP also noted that, in addition to
phthalates, other chemicals, including certain pesticides and
preservatives, add to the male reproductive effects of phthalates. CHAP
report at pp. 26-27. Due to the additive effects of certain phthalates,
the CHAP determined that it is appropriate to conduct a cumulative risk
analysis to assess the antiandrogenic phthalates the CHAP identified.
Id.
For its cumulative risk assessment, the CHAP used a Hazard Index
(HI) approach which, the CHAP noted, is widely used in cumulative risk
assessments of chemical mixtures. Id. To determine the HI, one first
calculates the hazard quotient (HQ) for each chemical and then adds the
HQs together. The ``HQ'' is generally defined as the ratio of the
potential exposure to a substance and the level at which no adverse
effects are expected. If the HQ is less than one, the expectation is
that no adverse effects will result from exposure; but if the HQ is
greater than one, adverse effects are possible. Rather than use
acceptable daily intakes (ADI) or reference doses (RfDs) as the
denominator of HQs, the CHAP used ``potency estimates for
antiandrogenicity'' (PEAAs). The PEAA is an estimate of the level of
exposure at which the risk of antiandrogenic effects is considered
negligible. The CHAP estimated a PEAA for each phthalate by dividing
the MRDE ``antiandrogenic'' point of departure (POD; toxicity endpoint)
by an uncertainty factor (UF). The CHAP used three sets of PEAAs (the
CHAP refers to these as Cases) to evaluate the impact of assumptions in
calculating the HI. Id. at pp. 61-65.
The CHAP calculated the HI per woman and infant, using the NHANES
data on pregnant women (representing exposure to the fetus) and the SFF
data on children. The CHAP found that roughly 10 percent of pregnant
women in the U.S. population have HI values that exceed 1.0 (pregnant
women had median HIs of about 0.1 (0.09 to 0.14), while the 95th
percentile HIs were
[[Page 49947]]
about 5, depending on which set of PEAAs was used. The CHAP found that
4-5 percent of infants have HI values that exceed 1.0 (infants had
median HIs about 0.2, while the 95th percentiles were between 0.5 and
1.0). Id. at p. 65 and Table 2.16. Based on this cumulative risk
assessment, the CHAP recommended that phthalates that induce
antiandrogenic effects (DINP, DIDP, DPENP, DHEXP, and DCHP should be
permanently banned from use in children's toys and child care articles
at levels greater than 0.1 percent. Id. at pp. 7-8.
Regarding the HQs for the individual phthalates, the CHAP found
that DEHP dominated, ``with high exposure levels and one of the lowest
PEAAs.'' Id. at p. 65. HQ values were similar for three phthalates
(DBP, BBP, and DINP), while DIBP had the smallest HQs. Id.
b. Risks in Isolation
In accordance with the CPSIA's direction, the CHAP also considered
the risks of phthalates in isolation. 15 U.S.C. 2057c(b)(2)(B)(ii). The
CHAP used a margin of exposure (MOE) approach to assess the risks in
isolation. CHAP report at p. 69. The MOE is the ``no observed adverse
effect level'' (NOAEL) of the most sensitive endpoint in animal studies
divided by the estimated exposure in humans. Higher MOEs indicate lower
risks. Generally, MOEs greater than 100 to 1,000 are adequate to
protect public health. Id. The CHAP found that, with the exception of
DEHP, for all phthalates that it evaluated in isolation, the MOEs were
within acceptable ranges. Id. at pp. 82-121.
4. CHAP's Recommendations to the Commission
a. Phthalates Subject to the Interim Prohibition
Diisononyl phthalate (DINP)
The CHAP recommended that the Commission permanently prohibit the
use of DINP in children's toys and child care articles at levels
greater than 0.1 percent. The CHAP explained that, although DINP is
less potent than other active phthalates, it induces antiandrogenic
effects in animals, and therefore, DINP can contribute to the
cumulative risk from other antiandrogenic phthalates. Id. at pp. 95-99.
The CHAP explained that studies exposing rats to DINP during the
critical period of fetal development showed effects on male
reproductive development. The CHAP stated: ``Five such studies have
shown that DINP exposure in rats during the perinatal period is
associated with increased incidence of male pups with areolae and other
malformations of androgen-dependent organs and testes (Gray et al.,
2000), reduced testis weights before puberty (Matsutomi et al., 2003),
reduced AGD (Lee et al., 2006), increased incidence of multinucleated
gonocytes, increased nipple retention, decreased sperm mobility,
decreased male AGD, and decreased testicular testosterone (Boberg et
al., (2011)), and reduced fetal testicular testosterone production and
decreased StAR and Cyp11a mRNA levels (Adamson et al.,2009; Hannas et
al., 2011b).'' Id. at pp. 96-97.
The CHAP report discussed the CHAP's determination of a NOAEL for
DINP. Id. at pp. 97-98. The CHAP stated:
Taken together, the data from Boberg et al. (2011), Hannas et
al. (2011b), and Clewell et al. (2013a; 2013b) indicate that the
developmental NOAEL, based on antiandrogenic endpoints (nipple
retention, fetal testosterone production, and MNGs) is between 50
and 300 mg/kg-day. Taking a conservative approach, the CHAP assigns
the NOAEL for DINP at 50 mg/kg-day. However, the CHAP also wants to
point out that a simple extrapolation based upon relative potencies
(as described in Hannas et al., 2011b) with 2.3-fold lesser potency
of DINP than DEHP (in terms of fetal testicular T reduction) would
lead to a NOAEL of 11.5mg/kg-d for DINP. This scenario is reflected
in case 2 of the HI approach.
Id. at p. 98. Regarding exposure, the CHAP observed: ``DINP has been
used in children's toys and child care articles in the past.'' Id. The
CHAP noted that metabolites of DINP have been detected in urine samples
in NHANES surveys. Id.
Considering risk in isolation (following the MOE approach), the
CHAP found MOEs that are generally considered adequate for public
health. For male developmental effects, in infants (using the SFF
study) the CHAP stated that the total exposure ranged from 640 to
42,000, using 95th percentile estimates of exposure. For pregnant women
(using NHANES data), the CHAP stated that the MOE for total DINP
exposure ranged from 1000 to 68,000. The CHAP stated: ``Typically, MOEs
exceeding 100-1000 are considered adequate for public health; however,
the cumulative risk of DINP with other antiandrogens should also be
considered.'' Id. at p. 99. The CHAP also considered the effects of
DINP on the liver, and it found that the MOEs were within an acceptable
range.
In making its recommendation to the CPSC concerning DINP, the CHAP
stated: ``The CHAP recommends that the interim ban on the use of DINP
in children's toys and child care articles at levels greater than 0.1%
be made permanent. This recommendation is made because DINP does induce
antiandrogenic effects in animals, although at levels below that for
other active phthalates, and therefore can contribute to the cumulative
risk from other antiandrogenic phthalates.'' Id.
Di-n-octyl phthalate (DNOP)
The CHAP reviewed data on DNOP. Id. at pp. 91-95. The CHAP found
that, although DNOP is a potential developmental toxicant (causing
supernumerary ribs) and a potential systemic toxicant (causing adverse
effects on the liver, thyroid, immune system and kidney), ``DNOP does
not appear to possess antiandrogenic potential.'' The CHAP estimated
that MOEs for DNOP for infants and toddlers ranged from 2,300 to 8,200.
The CHAP concluded: ``because the MOE in humans are likely to be very
high, the CHAP does not find compelling data to justify maintaining the
current interim ban on the use of DNOP in children's toys and child
care articles.'' The CHAP recommended that the Commission lift the
interim prohibition with regard to DNOP, but also recommended that
``agencies responsible for dealing with DNOP exposures from food and
child care products conduct the necessary risk assessments with a view
to supporting risk management steps.'' Id. at p. 95.
Diisodecyl phthalate (DIDP)
The CHAP reviewed data on DIDP. Id. at pp. 100-105. The CHAP found
that, although DIDP is a potential developmental toxicant (causing
supernumerary ribs) and a potential systemic toxicant (causing adverse
effects on the liver and kidney), ``DIDP does not appear to possess
antiandrogenic potential.'' The CHAP estimated the MOEs for DIDP range
from 2,500 to 10,000 for median intakes and from 586 to 33,000 for 9th
percentile intakes. Id. at p. 104. The CHAP found that DIDP's MOEs in
humans are likely to be relatively high. The CHAP stated: ``The CHAP
does not find compelling data to justify maintaining the current
interim ban on the use of DIDP in children's toys and child care
articles.'' The CHAP recommended that the Commission lift the interim
prohibition with regard to DIDP, but suggested that ``agencies
responsible for dealing with DIDP exposures from food and child care
products conduct the necessary risk assessments with a view to
supporting risk management steps.'' Id. at pp. 104-105.
[[Page 49948]]
b. Other Phthalates
Due to their adverse effect on male reproductive development (and
thus their contribution to the cumulative risk from other
antiandrogenic phthalates), the CHAP recommended that the Commission
permanently prohibit the use of four additional phthalates at levels
greater than 0.1 percent in children's toys and child care articles.
Diisobutyl phthalate (DIBP)
The CHAP found that DIBP is similar in toxicity to DBP, one of the
phthalates subject to the CPSIA's permanent prohibition. The CHAP
reviewed studies that found that exposure to DIBP had effects on male
reproductive development. The CHAP stated: ``Six studies in which rats
were exposed to DIBP by gavage during late gestation showed that this
phthalate reduced AGD in male pups, decreased testicular testosterone
production, increased nipple retention, increased the incidence of male
fetuses with undescended testes, increased the incidence of
hypospadias, and reduced the expression of P450scc, ins13, genes
related to steroidogenesis, and StAR protein (Saillenfait et al., 2006;
Borch et al., 2006a; Boberg et al., 2008; Howdeshell et al., 2008;
Saillenfait et al., 2008; Hannas et al., 2011b).'' Id. at p. 110.
Regarding exposure, the CHAP noted that DIBP has been detected in
some toys during routine CPSC compliance testing. The CHAP stated:
``DIBP is too volatile to be used in PVC but is a component in nail
polish, personal care products, lubricants, printing inks, and many
other products.'' Id. at 111. Metabolites of DIBP have been detected in
human urine in NHANES surveys and in Germany.
Assessing risk, the CHAP found: ``The margins of exposure (95th
percentile total DIBP exposure) for pregnant women in the NHANES study
ranged from 5,000 to 125,000. For infants in the SFF study, the MOE
(95th percentile total DIBP exposure) ranged from 3,600 to 89,000.''
Id. Although these MOEs are within an acceptable range, the CHAP stated
that the cumulative risk should be considered. Id. Explaining its
recommendation concerning DIBP, the CHAP stated:
Current exposures to DIBP alone do not indicate a high level of
concern. DIBP is not widely used in toys and child care articles.
However, CPSC has recently detected DIBP in some children's toys.
Furthermore, the toxicological profile of DIBP is very similar to
that of DBP, and DIBP exposure contributes to the cumulative risk
from other antiandrogenic phthalates. The CHAP recommends that DIBP
should be permanently banned from use in children's toys and child
care articles at levels greater than 0.1%.
Id. at pp. 111-112.
Di-n-pentyl phthalate (DPENP)
Although DPENP is not widely used, the CHAP found that it is the
most potent phthalate with respect to developmental toxicity. According
to the CHAP, two studies (Howdeshell et al. (2008) and Hannas et al.
(2011a)) found that DPENP exposure reduced fetal testicular
testosterone production, StAR Cyp11a, and ins13 gene expression, and
increased nipple retention. Id. at p. 112. The CHAP stated that DPENP
is not currently found in children's toys or child care articles and is
not widely found in the environment. Id. at p. 113. In its
recommendation, the CHAP stated: ``The CHAP recommends that DPENP
should be permanently banned from use in children's toys and child care
articles at levels greater than 0.1%. The toxicological profile of
DPENP is very similar to that of the other antiandrogenic phthalates,
and DPENP exposure contributes to the cumulative risk.'' Id.
Di-n-hexyl phthalate (DHEXP)
According to the CHAP, a National Toxicology Program review of
DHEXP in 2003 reported that based on the limited data available at that
time, DHEXP is a developmental toxicant at high doses (9900 mg/kg-d),
but the data were not adequate to determine an NOAEL or LOAEL. The CHAP
stated that since then, ``one developmental toxicity study has reported
that DHEXP exposure reduced the AGD in male pups in a dose-related
fashion and increased the incidence of male fetuses with undescended
testes (Saillenfait et al., 2009a).'' Id. at p. 114. The CHAP report
stated: ``Saillenfait et al. observed reproductive tract malformations,
including hypospadias, undeveloped testes, and undescended testes, in
young adult male rats exposed prenatally to doses of 125 mg/kg-d DHEXP
or greater (Saillenfait et al., 2009b).'' Id. at p. 115.
The CHAP stated that DHEXP is currently not found in children's
toys or child care articles and is not widely found in the environment.
It is primarily used in the manufacture of PVC and screen printing inks
and is also used ``as a partial replacement for DEHP.'' Id. at p. 116.
Regarding risk, the CHAP stated: ``DHEXP is believed to induce
developmental effects similar to those induced by other active
phthalates. Due to low exposure, current risk levels are believed to be
low.'' Id. The CHAP recommended that DHEXP be permanently banned from
use in children's toys and child care articles at levels greater than
0.1%. The CHAP stated: ``The toxicological profile of DHEXP is very
similar to that of the other antiandrogenic phthalates, and DHEXP
exposure contributes to the cumulative risk.'' Id.
Dicyclohexyl phthalate (DCHP)
The CHAP found that studies on DCHP showed effects on male
reproductive development. The CHAP report states: ``Two studies in rats
exposed to DCHP by gavage during late gestation showed that this
phthalate prolonged preputial separation, reduced AGD, increased nipple
retention, and increased hypospadias in male offspring (Sallenfait et
al, 2009a; Yamasaki et al., 2009). One study in rats exposed to DCHP in
the diet showed that DCHP decreased the AGD and increased nipple
retention in F1 males (Hoshino et al., 2005).'' Id. at pp. 116-117. The
CHAP stated that DCHP is currently not found in children's toys or
child care articles and is not widely found in the environment. FDA has
approved it ``for use in the manufacture of various articles associated
with food handling and contact.'' DCHP is also a component of hot melt
adhesives. Id. at p. 117. The CHAP stated: ``DCHP induces developmental
effects similar to other active phthalates. Due to low exposure,
current risk levels are believed to be low.'' The CHAP recommended that
DCHP be permanently banned from use in children's toys and child care
articles at levels greater than 0.1%. Id. at p. 118.
c. Phthalate Alternatives
The CPSIA also directed the CHAP to consider health effects of
phthalate alternatives and to include in its report to the Commission
recommendations for any phthalate alternatives that should be banned.
15 U.S.C. 2057c(b)(2)(B)(viii) and 2057c(b)(2)(C). The CPSIA defines
``phthalate alternative'' as ``any common substitute to a phthalate,
alternative material to a phthalate, or alternative plasticizer.'' Id.
2057c(g)(2)(A). Accordingly, the CHAP also reviewed phthalate
alternatives. CHAP report at pp. 121-142. The CHAP did not recommend
banning any phthalate alternatives. We also note that the Commission's
rulemaking authority under section 108 of the CPSIA does not extend to
phthalate alternatives. 15 U.S.C. 2057c(b)(3).
D. Comments Regarding the CHAP
Comments concerning the substance of the CHAP's analysis are
discussed in section IV of this preamble. This section covers comments
concerning the CHAP's process.
[[Page 49949]]
1. Peer Review
Comment: Applicability of OMB Peer Review Bulletin. Commenters
asserted that the CHAP report was subject to OMB's peer review
bulletin, that it qualifies as a ``highly influential'' scientific
assessment, and that it should be subject to a peer review that
comports with the highest standards for transparency, openness, and
objectivity, as outlined in the OMB's peer review bulletin. (Comments
8.6 and 8.7).
Response: The OMB's bulletin, Final Information Quality Bulletin
for Peer Review (70 FR 2664 (Jan. 14, 2005)) (OMB Bulletin), requires
``to the extent permitted by law,'' that agencies conduct peer review
on all influential scientific information that the agency intends to
disseminate. The OMB Bulletin defines ``influential scientific
information'' as ``scientific information the agency reasonably can
determine will have or does have a clear and substantial impact on
important public policies or private sector decisions.'' Id. at 2675.
We believe that the CHAP report could be considered ``influential''
under this definition. According to the OMB Bulletin, ``dissemination''
means ``agency initiated or sponsored distribution of information to
the public.'' Id. at 2674. The preamble to the OMB Bulletin notes that
the OMB Bulletin ``does not directly cover information supplied by
third parties (e.g., studies by private consultants, companies and
private, non-profit organizations, or research institutions such as
universities). However, if an agency plans to disseminate information
supplied by a third party (e.g., using this information as the basis
for an agency's factual determination that a particular behavior causes
a disease), the requirements of the OMB Bulletin apply, if the
dissemination is `influential.' '' Id. at 26676. Although the CHAP
report was written by a third party, we believe that by relying on the
CHAP report in support of the NPR, the Commission disseminated the CHAP
report. Under the Bulletin, additional requirements apply to ``highly
influential scientific assessments,'' which the Bulletin defines as a
scientific assessment that:
(1) Could have a potential impact of more than $500 million in any
year, or
(2) is novel, controversial, or precedent-setting or has
significant interagency interest.
One might consider the CHAP report to be a ``novel, controversial,
or precedent-setting'' report that it could be of ``significant
interagency interest'' because, as the CHAP report indicates, many of
the products that contain phthalates (e.g., food and cosmetics) fall
under other agencies' jurisdiction.
Comment: Compliance with OMB Peer Review Bulletin. Some commenters
asserted that the CHAP failed to adhere to the OMB Bulletin
requirements for the peer review of a highly influential scientific
assessment. In contrast, other commenters supported the peer review
process used for the CHAP report, stating that the peer review was part
of an open and transparent process. (Comment 8.7).
Response: The peer review process used for the draft CHAP report
complied with the additional requirements for highly influential
scientific assessments. For example, as noted by some commenters, the
peer review of the draft report was conducted by four independent
scientists, using the same criteria for selecting the peer reviewers
(by nomination of the National Academy of Sciences) required for
selecting the CHAP members. The peer reviewers were not employed by
manufacturers of the products under consideration or by the federal
government, except the National Institutes of Health, the National
Toxicology Program, or the National Center for Toxicological Research.
Additionally, the CPSC made public: The identity of the peer
reviewers, the charge to the peer reviewers, the draft report that was
reviewed, and the peer reviewers' comments. CPSC posted all of the
information on the CPSC Web site at the same time the final CHAP report
was released to the public; and the information is available on the
CPSC's Web site, in accordance with the additional requirements for a
highly influential scientific assessment.\11\ Thus, the public would
have ample opportunity to see the concerns reviewers raised and how the
CHAP addressed the concerns.
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\11\ See https://www.cpsc.gov/chap.
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Finally, regarding public comment, as discussed in the next
response, the peer review process used by CPSC complied with the OMB
Bulletin.
Comment: Peer review and public comment. Commenters asserted that
as a ``highly influential'' assessment, the CHAP report should have
been subject to an open public comment period, as set forth in the OMB
Bulletin. Commenters asserted that the Bulletin establishes strict
minimum requirements for the peer review of highly influential
scientific assessments, including a requirement that an agency ``make
the draft scientific assessment available to the public for comment at
the same time it is submitted for peer review . . . and sponsor a
public meeting where oral presentations on scientific issues can be
made to the peer reviewers by interested members of the public.''
Commenters asserted that this would have allowed for comment on flaws
in the CHAP's analysis. (Comment 8.8).
Response: The OMB Bulletin states: ``The selection of an
appropriate peer review mechanism for scientific information is left to
the agency's discretion.'' Id. at 2665. It also advises: ``[a]gencies
are directed to choose a peer review mechanism that is adequate, giving
due consideration to the novelty and complexity of the science to be
reviewed, the relevance of the information to decision making, the
extent of prior peer reviews, and the expected benefits and costs of
additional review.'' Id. at 2668. We also note that CPSC staff
consulted with OMB staff before finalizing the peer review plan for the
CHAP report, as recommended by the OMB Bulletin.
Although the OMB Bulletin uses the term ``requirements,'' the
document emphasizes the intent to allow agencies flexibility in
determining appropriate methods of peer review, id. at 2665, and the
OMB Bulletin is a guidance document. The OMB Bulletin states that it
``is not intended to, and does not, create any right or benefit,
substantive or procedural, enforceable at law or in equity.'' Id. at
2677. See Family Farm Alliance v. Salazar, 749 F. Supp. 2d 1083 (E.D.
Cal. 2010) (finding that a claim that the U.S. Fish and Wildlife
Service had not conducted appropriate peer review was not judicially
reviewable). Although the draft CHAP report was not provided to the
public for comment at the time that the CHAP submitted the report for
peer review, the agency was not required to do so, nor was the agency
required to sponsor a public meeting on the peer review. CPSC staff and
the CHAP members reasonably desired that the report should achieve a
high level of quality before it was released to the public. Moreover,
as explained in the next response, the CHAP report was developed
through a very open public process that provided for public input as
the CHAP was developing its report.
2. CHAP's Transparency and Openness
Comment: Transparency and openness of CHAP's process. Several
commenters stated generally that the process for the CHAP report was
not open and transparent, but had been conducted behind closed doors.
Other commenters questioned the transparency of particular aspects of
the CHAP report, such as the methods used to review the scientific
health evidence
[[Page 49950]]
and assess cumulative risk. In contrast, other commenters asserted that
the CHAP process was a sound and fair process, adding that the process
was highly public, and that the CHAP considered public comments and
written submissions (including from industry representatives who
charged that the process was not open). (Comments 8.8 and 10.3).
Response: The CHAP's process for developing its report was open and
transparent throughout. The CHAP developed its approach in public
during seven public meetings and six public teleconference calls.
During these public meetings, the CHAP discussed the methods that the
CHAP would use to conduct the cumulative risk assessment. CPSC provided
a page on its Web site to post all CHAP-related information. All of the
data submitted to the CHAP, CPSC contractors' reports, and peer-
reviewed staff reports used by the CHAP were posted on the CPSC's
public Web site. The CPSC's Web site also included correspondence
submitted to CPSC concerning the CHAP's work. In fact, the CHAP elected
not to use industry studies on DINX and DPHP, for the very reason that
the manufacturer would not make the toxicology studies available to the
public. NHANES data (which the CHAP relied on) are available to the
public from the CDC. Once the CHAP transmitted its final report to the
Commission, CPSC posted the final report, the draft report that had
been submitted for peer review, and peer reviewers' comments. The CHAP
considered all subject matter expert comments from the peer review of
the CHAP draft report. The initial pages of the CHAP report outlined
changes to the CHAP report resulting from the peer reviewers' comments.
3. Weight of Evidence and Completeness of CHAP's Review
Comment: Nature of CHAP's review. Some commenters stated that the
CHAP did not, but should have, conducted a systematic review and/or
followed a weight of evidence (WOE) approach. Various commenters
asserted that the CHAP should have: Employed a consistent WOE
framework; demonstrated how the CHAP graded, rated, and interpreted the
epidemiology studies; and specified a clear and systematic approach for
addressing the uncertainties of the data equally. (Comment 10.1).
Response: The CHAP used the WOE approach in two different manners.
First, the CHAP wrote a ``Weight of Evidence'' section for each
recommendation for each phthalate and phthalate alternative. The CHAP
also used WOE more broadly when developing overall recommendations for
each phthalate or phthalate alternative. The CHAP explicitly stated
factors it considered relevant to making its recommendations. CHAP
report at p. 79. The CHAP stated, however, that ``Because of the nature
of the subject matter and the charge questions, which involve different
streams of evidence and information, the CHAP concluded that its review
was not amenable to the systematic review methodology.'' Id. at p. 12.
This does not mean that the CHAP's review was unsystematic and biased.
Rather, the CHAP, which began in 2010, did not have all of the
systematic review methods that are available today. However, the CHAP
incorporated many of the elements that are now included in systematic
review methods in their work. (See Response 10.1 of Tab B of staff's
briefing package for more detailed response.)
IV. Final Rule and Rationale
This section presents the final rule and explains the Commission's
rationale for the rule. The Commission has considered the CHAP report,
staff's analysis of the CHAP report, staff's analysis of recent NHANES
data, and the public comments submitted in response to the proposed
rule and staff's NHANES reports. More specifically, we present the
Commission's rationale for the rule by explaining the Commission's
consideration of: Phthalates' effects on male reproductive development,
human exposure to phthalates, assessment of phthalates' cumulative risk
and risks in isolation, and assessment of risk for each phthalate that
the CHAP considered. In addition, the Commission considered the
appropriate concentration limit for the phthalates restrictions and the
appropriate effective date for the rule. In this section, we also
discuss phthalate requirements established by international standards
and other countries.
A. Hazard: Phthalates' Effect on Male Reproductive Development
1. Summary
In accordance with the CPSIA's direction, the CHAP reviewed all
available toxicity data on phthalates. The CHAP determined that the
critical endpoint for its analysis was adverse effects on male
reproductive development (MRDE) and other adverse effects on male
fertility. This focus was consistent with the NRC's 2008 assessment. As
noted in the NPR, CPSC staff supports the CHAP's choice to focus on
this endpoint because: MRDE in animals is associated with many of the
most common phthalates; for most active phthalates, these effects are
the most sensitive health effect; and phthalate syndrome in animals
resembles testicular dysgenesis syndrome (TDS) in humans. Moreover,
phthalates' effects on male reproductive development are well studied.
79 FR 78331-32.
As the CHAP reported, ``Studies conducted over the past 20 plus
years have shown that phthalates produce a syndrome of reproductive
abnormalities in male offspring when administered to pregnant rats
during the later stages of pregnancy.'' CHAP report at p. 15. These
effects include: Reduced testosterone synthesis, reduced anogenital
distance (AGD), nipple retention (normally does not occur in male
rats), undescended testes, testicular atrophy, testicular
histopathology, multi-nuclear gonocytes (MNGs), reduced production of
insulin-like hormone 3 (insl3), underdeveloped gubernacular cords,\12\
undescended testes, and genital malformations (hypospadias).\13\
Effects may differ depending on the dose. The CHAP noted: ``the highest
incidence of reproductive tract malformations is observed at higher
phthalate dose levels, whereas changes in AGD and nipple/areolae
retention are frequently observed at lower phthalate does levels.''
CHAP report at p. 15. These effects persist into adulthood and lead to
reduced or absent reproductive ability. Many, but not all, phthalates
cause phthalate syndrome.\14\ The CHAP identified five phthalates (DBP,
BBP, DINP, DIBP, and DEHP) that cause phthalate syndrome and for which
human biomonitoring data were available to assess exposure.
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\12\ Underdeveloped gubernacular cords lead to undescended
testes.
\13\ Foster (2006); Foster et al. (2001); Howdeshell et al.
(2016); Howdeshell et al. (2008).
\14\ The CHAP referred to phthalates that cause phthalate
syndrome as ``antiandrogenic,'' due to the importance of
testosterone inhibition in causing phthalate syndrome.
Antiandrogenic also serves to distinguish phthalates from other
chemicals that act through the androgen receptor, which phthalates
do not.
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As discussed in the CHAP report, studies have reported similar
effects in species other than rats, such as guinea pigs, mice, rabbits,
and ferrets.\15\ The evidence of phthalate syndrome in mice is even
stronger now than when the CHAP developed its analysis.\16\ In
addition, as the CHAP noted, ``there is a rapidly growing body of
[[Page 49951]]
epidemiological studies on the potential association of exposure to
phthalates with human health.'' CHAP report at p. 27. For example, the
CHAP discussed two human studies linking prenatal phthalate exposure to
effects such as reduced AGD in male infants. Id. at p. 28. TDS in
humans bears similarities to rat phthalate syndrome. Id. at p. 2. The
effects of TDS (e.g., hypospadias, cryptorchidism, testicular cancer,
impaired fertility) are observed with regularity in the U.S.
population. Phthalates have been proposed as possible contributors to
TDS.\17\
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\15\ Guinea pigs (Gray et al. (1982)), mice, (Gray et al.
(1982); Moody et al. (2013); Ward et al. (1998)), rabbits (Higuchi
et al. (2003)), and ferrets (Lake et al. (1976)).
\16\ Clewell et al. (2011) and Ding et al. (2011).
\17\ Scott et al. (2007); Skakkebaek et al. (2001).
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2. Comments Concerning Male Reproductive Developmental Effects
Several commenters raised issues concerning phthalates' effects on
male reproductive development (MRDE). They asserted that studies do not
support a determination that phthalates have the same effects on male
reproductive development in humans (and other animals) as they do in
rats. Commenters also asserted that, even if phthalates have some
effect, humans are less sensitive and the CHAP failed to take this into
account, especially through appropriate uncertainty factors.
Additionally, commenters raised questions about the epidemiology
studies the CHAP discussed, i.e., studies concerning phthalates'
effects on human populations. Commenters also asserted that, because
MRDE would affect the developing fetus, this was not an appropriate
endpoint for CPSC's consideration of a regulation on children's toys
and child care articles. Commenters raised questions specifically about
DINP's association with MRDE. A summary of key comments/responses
concerning MRDE appears in this section. Comments/responses concerning
DINP, in particular, are provided in section IV.D.1.a. of this
preamble.
a. Animal Studies and Their Relevance to Humans
Comment: Studies on effects of phthalates on animals other than
rats. Several commenters questioned the relevance of studies on rat
phthalate syndrome in assessing effects on humans. Commenters asserted
that studies involving animals other than rats (e.g., hamsters and
marmosets,) indicate that phthalates are not likely to have the same
adverse effects in people that they have in rats. Commenters argued
that marmosets, being primates and having reproductive organ
development that is similar to humans, were more closely related to
humans than rats and, therefore, are a better model for estimating
human risk. Commenters focused particularly on one study (McKinnell et
al. (2009)) that reported no observed effects for several relevant
endpoints. Some commenters asserted that studies involving mice
indicate that humans, who are more similar to mice than rats, are
likely less sensitive to phthalates than rats. Commenters also cited
xenograft studies (i.e., transplanting human fetal testicular tissue
into rats or mice) as supporting the conclusion that exposure to
phthalates does not result in MRDE in humans, or at the least, humans
are less sensitive than rats. (Comments 1.1 through 1.5).
Response: Phthalate syndrome has been reported to occur in multiple
mammalian species, including guinea pigs, mice, rabbits, and ferrets.
Although studies indicate that hamsters were resistant to the effects
of phthalates due to their slow metabolism to the active metabolite, a
study by Gray et al. (1982) shows that giving the active metabolite to
hamsters causes phthalate syndrome. Regarding mice, the CHAP discussed
studies that found some effects in mice (e.g., disruptions in
seminiferous cord formation, the appearance of multinucleated
gonocytes, and suppression of insulin-like factor 3 (insl3)). CHAP
report at p. 6. Some studies published after the CHAP completed its
analysis provide additional evidence of phthalate syndrome effects in
mice, including reduced testosterone levels, reduced testosterone
production, testicular damage, reduced sperm count and quality, reduced
AGD, delayed pubertal onset, and increased nipple retention.\18\ Thus,
there is now even stronger evidence of phthalate syndrome in mice than
was available to the CHAP. The CHAP cautioned that differences in
methodology could cloud the issue of which species is more sensitive.
CHAP report at pp. 17 and 72. Even if mice or other species are less
sensitive than rats, it is not possible to make a direct comparison to
humans without dose-response information in humans.
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\18\ Doyle et al. (2013) and Ge et al. (2015).
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Furthermore, the most sensitive species is generally used in
assessing risks to humans.\19\ The CHAP concluded that rats provide the
most sensitive and most extensive studies in male developmental
toxicity. CHAP report at pp. 1, 15, 16, 76. Phthalate syndrome in rats
resembles the TDS in humans. Id. at pp. 2, 75. For these reasons, the
CHAP concluded that studies in rats currently offer the best available
data for assessing human risk. Id. at pp. 18, 75.
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\19\ Barnes and Dourson (1988); CPSC (1992); EPA (1991).
---------------------------------------------------------------------------
Regarding the marmoset studies, the CHAP paid particular attention
to these studies and invited Richard Sharpe, the principal investigator
of the Hallmark and McKinnell studies, to present his findings at the
CHAP meeting in November 2011. Dr. Sharpe agreed with the CHAP that
both studies were limited by the small numbers of animals used and the
brief duration of exposure. Dr. Sharpe added that his studies were very
preliminary and that it would be premature to use his studies' results
to support public health decisions. Even though limited, the published
studies do show that the phthalate metabolite suppressed
steroidogenesis in neonatal marmosets.
Regarding the xenograft studies, commenters cited two studies in
which rat fetal testes or human fetal testicular tissue were
transplanted (xenografted) into rats (Heger et al. (2012)) or mice
(Mitchell et al. (2012)). As discussed by the CHAP, these studies are
subject to a number of limitations. CHAP report at p. 17. Most of the
human fetal tissue samples were obtained after the human window of
maximum susceptibility to phthalates, meaning that the tissues were
less susceptible to MRDE induced by phthalates. In contrast, constant
exposure to phthalates in the womb would always expose the fetal tissue
to phthalates at their time of maximum sensitivity. Staff provides more
detailed responses concerning these studies on animals other than rats
in comment/responses 1.1 through 1.5.
Comment: Implications of in vitro studies and studies involving
chemicals other than phthalates. Some commenters discussed studies in
which human testicular tissue or cells were cultured in vitro and then
exposed to phthalates.\20\ Commenters asserted that these studies raise
questions about whether phthalate-induced testosterone reduction in
rats is relevant to humans. Commenters also asserted that studies
(which were not cited by the CHAP) of chemicals with the same mode of
action as phthalates, DES and finasteride, show that humans are
resistant to phthalates. (Comments 1.6 and 1.7).
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\20\ Desdoits-Lethimonier et al. (2012); Lambrot et al. (2009).
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Response: In vitro studies use techniques that are performed in a
controlled environment outside of a living cell or organism, while in
vivo studies are performed inside living cells or organisms. CPSC staff
reviewed the studies and concludes that the in vitro studies with human
fetal testicular
[[Page 49952]]
tissue are still preliminary and are generally not sufficient, by
themselves, to support public health decisions. In vivo animal studies
are generally given greater weight in risk assessment. As the CHAP
noted, there is also a growing body of evidence in humans that shows
associations between phthalate exposure and MRDE endpoints that are
consistent with the rat data.
Regarding DES and finasteride, the CHAP assessed each phthalate
based on the best available data for each individual chemical, and
based its recommendations on those assessments. The CHAP did not base
its conclusions on an assumption that all phthalates will behave the
same way as DES or finasteride. The DES and finasteride publication
cited by commenters implies that humans are less sensitive than rats to
these two chemicals. However, this assertion does not mean that all
phthalates will produce similar biological effects as DES or
finasteride; phthalates do not have a similar chemical structure, are
not metabolized or detoxified in the same way, and will not have
similar dose-response curves to those of DES or finasteride.
b. Uncertainty Factors
Comment: Adjusting uncertainty factors. Some commenters asserted
that, even if one accepts that studies on rats demonstrate that
phthalates have some effect on humans, humans are less sensitive than
rats, and one must adjust the interspecies uncertainty factor to avoid
overestimating the risk to humans. Some commenters suggested that
instead of an interspecies uncertainty factor of 10, which the CHAP
used, the uncertainty factor should be 0.1 (i.e., humans are 10x less
sensitive than rodents) to 1 (humans are equally sensitive as
rodents).'' Other commenters asserted that the CHAP should have used a
different intraspecies uncertainty factor. They argued that the
intraspecies uncertainty factor of 10 used by the CHAP is overly
conservative because the PEAAs are already based on a sensitive
population. Commenters on both types of uncertainty factors asserted
that following their recommendations would have reduced the HI in the
CHAP's cumulative risk analysis so that it would be less than one.
(Comments 1.8 and 1.9).
Response: An uncertainty factor is used in risk assessments to
account for differences among different species. An interspecies
uncertainty factor of 10 is consistent with the general practice used
by CPSC, EPA, and others in risk assessment, to account for
interspecies differences.\21\
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\21\ Barnes and Dourson (1988); CPSC (1992); Dankovic et al.
(2015); EPA (1991); Pohl and Abadin (1995).
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Humans are frequently more sensitive to reproductive and
developmental effects than animals,\22\ and human males are considered
more vulnerable than other mammals.\23\ Commenters cited xenograft
studies to support the assertion that humans are less sensitive than
rats to phthalates effects. As discussed in the response above, these
preliminary studies do not provide sufficient support for reducing the
interspecies uncertainty factor.
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\22\ EPA (1991).
\23\ Klaassen (2001), p. 703.
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An uncertainty factor is also used to account for differences in
how members of the same species could react to a chemical (i.e., human
variability). In deriving PEAAs, the CHAP applied an intraspecies UF of
10 to account for differences in sensitivity among individuals. CHAP
report at pp. 63-66. CPSC staff expects that the population of infants
and fetuses will have a broad range of sensitivity, because age, sex,
genetic composition, nutritional status, and preexisting diseases may
all alter susceptibility to toxic chemicals.\24\ Multiple federal
agencies use an intraspecies uncertainty factor of 10.\25\ The CHAP
used only the interspecies uncertainty factor and intraspecies
uncertainty factor in its analyses. The CHAP did not apply an
additional UF to protect infants.
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\24\ Pohl and Abadin (1995).
\25\ Barnes and Dourson (1988); CPSC (1992); Dankovic et al.
(2015); EPA (1991).
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c. Epidemiology Studies
Comment: Role of epidemiology studies in CHAP's report and
recommendations. Some commenters suggested that human epidemiological
evidence for phthalate-induced effects was equivocal or inconsistent
with results from animal studies, and did not support the CHAP's
conclusions and recommendations. Some commenters asserted that these
studies did not show consistent results and have not established a
cause and effect relationship between phthalate exposure and MRDE
effects in humans. (Comment 7.1).
Response: The CHAP's assessment and recommendations to the
Commission are based primarily on animal studies. However, the CHAP
reviewed epidemiology studies as well. CPSC staff agrees with the CHAP
that these epidemiology studies indicate an association of exposure to
phthalates with human health. Under CPSC's Chronic Hazard Guidelines
and other agencies' guidance, epidemiological studies establishing a
causal relationship between exposure and effect are not required to
conclude that a substance or mixture is ``probably toxic to humans.''
CPSC's Chronic Hazard Guidelines, 57 FR 46626, 46641 (Oct. 9, 1992).
CPSC staff considers that there is sufficient evidence in animal
studies to conclude that certain phthalates are probably toxic to
humans. Epidemiological data provide supporting evidence for the animal
data and also support the conclusion that the animal data are relevant
to humans. In addition, staff states that the CHAP's conclusion is
consistent with a recent NAS (2017) report that also concluded that
there is a ``moderate level of evidence'' from epidemiological studies
that DEHP and DBP induce MRDE in humans (based on changes in AGD). The
NAS report's conclusions provide additional confidence that phthalates
cause MRDE in humans. Although there are a few inconsistencies in the
findings from epidemiological studies, inconsistencies among
epidemiological studies are common, due to differences in study
methods, characteristics of the study population, study size, and the
statistical power of the study to detect associations. Establishing
cause and effect in epidemiological studies is not required by federal
and international agencies to conclude that a substance is likely to
cause similar effects in humans.
Comment: Studies on reduced anogenital distance (AGD). Several
commenters raised questions about an association between phthalate
exposure and reduced AGD in males. Commenters noted inconsistencies in
results among published studies and noted that effects occurred
sporadically and inconsistently, even when performed by the same
laboratory. Some commenters pointed to inconsistencies between
epidemiological and animal studies. Other commenters took a different
view, noting that ``these markers are linked with diminished
reproductive health in males.'' (Comments 7.3 and 7.7).
Response: The CHAP considered and discussed the inconsistent
epidemiological data, noting the need to evaluate carefully negative
and positive findings. CHAP report at p. 21. The CHAP considered the
available epidemiological evidence, along with the animal studies, and
determined that human AGD is a relevant measure of the antiandrogenic
mode of action of phthalates during fetal development. CPSC staff
concludes that, with few exceptions, the epidemiology studies
[[Page 49953]]
are generally consistent with one another and with the results of
animal studies.
Reduced AGD is one of many effects associated with phthalate
syndrome. Studies demonstrate that phthalates cause permanent effects
on male reproductive development.\26\ Jain and Singal (2013) reported
that infants with undescended testis (cryptorchidism--an adverse
clinical outcome) had a significantly shorter AGD and AGI when compared
to infants with descended testis. Thankamony et al. (2014) reported the
results of a comparative study involving AGD (and penile length) in
infants that were normal and those with hypospadias or cryptorchidism.
They determined that AGD was statistically reduced in boys with
hypospadias or cryptorchidism when compared to boys without these
pathologies. They concluded: ``The findings support the use of AGD as a
quantitative biomarker to examine the prenatal effects of exposure to
endocrine disruptors on the development of the male reproductive
tract.''
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\26\ e.g., Boberg et al. (2011); Clewell et al. (2013b).
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Comment: DEHP exposure and medical procedures. One commenter stated
that the lack of evidence showing effects occurring in adults and
infants who are exposed to DEHP from intensive medical procedures makes
it unlikely that less potent phthalates would induce adverse
reproductive effects in humans. (Comment 7.4).
Response: Few studies have specifically investigated possible
health outcomes from phthalate exposures from medical equipment. The
commenter cited two studies, one that the CHAP also discussed. Although
this study did not find phthalate-related health effects, the CHAP
concluded that the very small sample size limits its usefulness. CPSC
staff concludes that because of the uncertainties in the existing data,
no conclusions can be drawn from high exposures to DEHP in medical
procedures.
d. Relevance of Endpoint to Rulemaking
Comment: Disconnect between risk assessment's focus on fetus as
target population and focus of rule. Commenters questioned how a rule
restricting phthalates in children's toys and child care articles could
reduce the risk of phthalate syndrome when the fetus, not infants and
children who use toys and child care products, is the population
primarily at risk for adverse effects on male reproductive development.
Commenters noted that the CHAP's analysis shows that exposures of women
to DINP from children's toys and childcare articles are negligible.
(Comment 1.11).
Response: Although fetuses are considered to be the most sensitive
population for MRDE, based on data from animal studies, the CHAP
recognized that other populations such as infants, toddlers, and
children also are susceptible to the effects of phthalates. CHAP report
at p. 14. Testosterone production and other processes involved in
reproduction remain critical throughout male development in animals and
humans from the prenatal period through puberty.
Testosterone production is required throughout a male's lifetime to
maintain the ability to reproduce.\27\ Moreover, CPSC, like other
federal agencies, uses the most sensitive and appropriate human target
population in risk assessments. The practice of selecting the most
protective endpoints and potency estimates (i.e., PODs) based on the
best available studies is consistent with the statutory mandate to
provide a reasonable certainty of no harm with an adequate margin of
safety. Using the lowest POD also is consistent with CPSC Chronic
Hazard Guidelines, 57 FR 46626 (Oct. 9, 1992), and other federal agency
practices.\28\
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\27\ Foster (2006).
\28\ Barnes and Dourson (1988); EPA (1991).
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3. National Academy of Sciences Report on Endocrine Disruptors
In July 2017, the National Academies of Sciences, Engineering, and
Medicine (NAS) released a report entitled, Application of Systematic
Review Methods in an Overall Strategy for Evaluating Low-Dose Toxicity
from Endocrine Active Chemicals (NAS 2017).\29\ The study responds to
EPA's request that the NAS develop a strategy to evaluate the evidence
for potential human health effects from endocrine active chemicals at
low doses. The NAS selected phthalates as one of two chemicals to
demonstrate the systematic review methods and integration of results.
In a chapter titled, ``Phthalates and Male Reproductive-Tract
Development,'' the NAS study evaluated three health effects (fetal
testosterone, anogenital distance (AGD), and hypospadias). CPSC staff
reviewed the NAS study.
---------------------------------------------------------------------------
\29\ NAS (2017) Application of Systematic Review Methods in an
Overall Strategy for Evaluating Low-Dose Toxicity from Endocrine
Active Chemicals. National Academies of Sciences, Engineering, and
Medicine, National Research Council. Washington, DC: The National
Academies Press. doi: https://doi.org/10.17226/24758.
---------------------------------------------------------------------------
Unlike the CHAP report, the NAS study is not a risk assessment.
Rather, the NAS study reviewed individual phthalates and three
individual health effects, focusing on whether enough quality data
existed to term the particular phthalates a reproductive hazard to
humans. In contrast, the CHAP considered all phthalate syndrome
effects. In spite of these differences, the NAS report's conclusions
are consistent with the CHAP and staff's hazard conclusions. The
phthalates section of the NAS report focused on DEHP, and provided a
``final hazard conclusion'' for each of the endpoints. Thus, for fetal
testosterone and AGD, DEHP is presumed to be a reproductive hazard to
humans; for hypospadias, DEHP is suspected to be a reproductive hazard
to humans (NAS 2017, pp. 78-81). For the other assessed phthalates,
including DINP, the NAS report did not conduct the final analysis step
that results in a ``final hazard conclusion.'' The report provides only
the ``initial hazard evaluations'' for fetal testosterone, AGD, and
hypospadias in humans. The report found for fetal testosterone, the
phthalates BBP, DBP, DEP, DIBP, DINP, and DPP are presumed to be
reproductive hazards to humans; DEP is not classifiable for this
endpoint (NAS 2017, Table 3-30). AGD, BBP, DBP, and DEP are presumed to
be reproductive hazards to humans, while DIBP, DIDP, and DINP are not
classifiable (NAS 2017, Table 3-29). For hypospadias, BBP is suspected
to be a reproductive hazard to humans and DBP is presumed to be a
reproductive hazard to humans (NAS 2017, Table 3-31). The NAS committee
did not evaluate DHEXP, DCHP, or DIOP.
With regard to DINP, the NAS study concluded:
DINP effect on Fetal Testosterone: The NAS concluded:
``there is a high level of evidence that fetal exposure to DINP is
associated with a decrease in fetal testosterone in male rats,'' and
that there was ``inadequate evidence to determine whether fetal
exposure to . . . DINP, . . . is associated with a reduction in fetal
testosterone in male humans.'' Overall, the NAS' initial hazard
evaluation of DINP and fetal testosterone in humans was that DINP was a
``presumed human hazard.''
DINP effect on AGD: The NAS concluded: ``there is an
inadequate level of evidence to assess whether fetal exposure to DINP
is associated with a decrease in AGD in male rats,'' and: ``the
available studies do not support DINP exposure being associated with
decreased AGD.'' Overall, the NAS' initial hazard evaluation of DINP
and AGD in humans was ``not classifiable.''
[[Page 49954]]
CPSC staff provides a more detailed discussion of the NAS report in
the final rule briefing package at section III.B. of the briefing
memorandum.
B. Exposure to Phthalates
As noted, the CHAP considered exposure in two ways: Human
biomonitoring studies that estimate total exposure to phthalates and
the scenario-based assessment that estimates exposure to specific
products and sources.
1. Human Biomonitoring
a. Summary
The CHAP used data from NHANES to estimate phthalate exposures to
pregnant women. The CHAP also used human biomonitoring data from the
SFF study to estimate exposures to infants and their mothers because
NHANES does not collect data on children under 6 years old. The CHAP's
analysis of NHANES data was based on the 2005/2006 data cycle. CPSC
staff subsequently analyzed data from later NHANES data sets. Because
the 2005/2006 data set was the last to sample a sufficient number of
pregnant women to make reliable exposure estimates for pregnant women,
CPSC staff's analyses are for women of reproductive age (WORA). Staff
determined that WORA are a suitable surrogate for pregnant women. CPSC
staff's June 2015 report; Tab A of staff's briefing package. CPSC staff
then used the CHAP's methodology and later NHANES data sets (2007/2008,
2009/2010, 2011/2012) to estimate phthalate exposure, individual
phthalate risk, and the cumulative risk (i.e, hazard index). Id. When
CDC released another data set, 2013/2014, staff performed a similar
analysis using that data. CPSC staff's February 2017 report; Tab A of
staff's briefing package. No more recent SFF data are available.
In CPSC staff's analysis of NHANES data published following the
CHAP's analysis, staff found that total phthalate exposures in WORA
have changed. The median total exposure to the phthalates included in
the CHAP's cumulative risk assessment (DEHP, DINP, BBP, DBP, DIBP) has
increased by 20 percent in WORA. In particular, the estimated median
DEHP exposure in WORA has declined over time, while the estimated
median DINP exposure in WORA has increased fivefold since 2005/
2006.\30\ Although DEHP was the major contributor to the cumulative
risk in 2005/2006, DINP now contributes about as much as DEHP. See TAB
A of staff's briefing package, Figures 6 and 7, and Table 8.
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\30\ Zota et al. (2014).
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No new data on infants or pregnant women are available to quantify
the effects of changing exposures. Given that the overall phthalate
exposures to WORA have declined since 2005/2006, it is possible that
exposures to infants and pregnant women have also declined. In general,
studies indicate that infants' and children's exposures to chemicals
tend to be greater than in adults.\31\ With regard to phthalates, daily
intakes of the phthalates the CHAP examined in its cumulative risk
assessment were generally twofold to threefold greater in SFF infants
than in their mothers. CHAP report at Table 2.7. In the CHAP's
scenario-based exposure assessment, estimated daily intakes were
twofold to fivefold greater in infants than in women. CHAP report,
Appendix E1, Table E1-18. Additionally, a study of German nursery
school children found they had roughly twice the DEHP exposure as their
parents.\32\ Because CPSC does not have exposure data for children more
recent than the SFF data used by the CHAP, staff can only make a
qualitative assessment that infants and children could have greater
exposure to phthalates than what the NHANES data indicate for WORA. In
section IV.C.1. of this preamble, we discuss the effect of the more
recent NHANES data on risk.
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\31\ CHAP 2014; Sathyanarayana et al. (2008a); Swan (2008); Swan
et al. (2005).
\32\ Koch et al. (2004).
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b. Comments Concerning Biomonitoring Data
i. Particular Data Sets
Comment: CHAP's use of 2005/2006 NHANES data. Several commenters
criticized the CHAP's use of 2005/2006 NHANES data. Commenters noted
that the CHAP report states: ``the stopping point for CHAP analysis and
interpretation was information available by the end of 2012.'' However,
commenters stated, both 2007/2008 data and 2009/2010 data were
available by then. A commenter noted that the 2009/2010 data set was
available in September 2012, nearly 2 full years before the final CHAP
report was issued and before the CHAP cutoff date for consideration of
new information (end of 2012). The commenter noted that the 2011/2012
data set was available in November 2013, ahead of the meeting in
January 2014 at which the CHAP discussed the peer review of its report.
(Comment 3.1).
Response: The CHAP used 2005/2006 NHANES data on pregnant women to
assess phthalate exposure as part of the cumulative risk assessment, to
satisfy the CPSIA's charge to ``examine the likely levels of
children's, pregnant women's, and others' exposure to phthalates . . .
.'' 15 U.S.C. 2057c(b)(2)(B)(iii) (emphasis added). This data set was
the most recent data on pregnant women available at the time the CHAP
completed its analysis in July 2012. CHAP report at p. 31. The 2005/
2006 NHANES study was the last data cycle to include a large sample of
pregnant women. The CHAP included summary phthalate metabolite data
from the 2007/2008 data cycle in its report, id. at Tables 2.5, 2.6.,
but did not calculate exposure and risk because this data set did not
have sufficient numbers of pregnant women. Partial data for 2009/2010
were first released in September 2012, after the CHAP completed its
analysis in July 2012. Although the 2011/2012 data on phthalate
metabolites were initially released in November 2013, the data were
revised in October 2014, and other files that were needed to calculate
exposure and risk were not published until January 2015, well after
publication of the final CHAP report. Regarding the CHAP report's
statement about a cutoff date, read in context, the cutoff date clearly
refers to the final update of the CHAP's search of the biomedical
literature for new peer-review publications in biomedical journals,
specifically, National Library of Medicine databases. In any event,
CPSC recognized that more recent NHANES data than the set on which the
CHAP relied were available. Accordingly, CPSC staff analyzed the later
NHANES data sets and used the most recent data in its analysis for the
final rule.
Comment: Pregnant women and women of reproductive age. Some
commenters stated that the 2005/2006 NHANES data on WORA were a
reasonable surrogate for the data on pregnant women, and that the CHAP
should have used WORA in its cumulative risk assessment because the
WORA have an increased sample size in most NHANES datasets and
phthalates exposures for both are statistically similar. Commenters
asserted that the sample size for pregnant women in the CHAP's analysis
was too small to yield reliable risk estimates. In contrast, another
commenter supported the CHAP's decision to base its analysis on the
2005/2006 data that focused on pregnant women. (Comments 3.7 and 3.10).
Response: The CHAP stated that it chose to use biomonitoring data
from the 2005/2006 NHANES and from the SFF ``because of the CHAP's task
to
[[Page 49955]]
investigate the likely levels of children's, pregnant women's, and
others' exposure to phthalates and to consider the cumulative effect of
total exposure to phthalates both from children's products and other
sources.'' CHAP report at p. 35. Although, as the CHAP stated, there
are indications that exposures may be higher in pregnant women than in
women in general, the CHAP stated: ``the exposures were not found to be
significantly different.'' Id. at p. 36. CPSC staff compared estimates
from the 2005/2006 NHANES data set to determine whether WORA had
similar daily intake (DI) and Hazard Index as Pregnant Women. CPSC
staff found that median and 95th percentile estimates of the DI for
five phthalates were generally similar when comparing WORA to pregnant
women. Regarding the sample size of pregnant women, CDC calculated the
sample size necessary for statistical analysis of NHANES data. In the
data sets after 2005/2006, NHANES no longer oversampled pregnant women.
Therefore, the numbers of pregnant women in data sets after 2005/2006
were too small to generate statistical estimates for pregnant women.
See Tab A of staff's briefing package.
ii. Biomonitoring Methodology
Commenters raised concerns about various technical aspects of the
NHANES data (e.g., effects of fasting, spot sampling rather than
averaging urine samples over time, using hydrolic metabolites for DINP
and DIDP, and appropriate metabolite markers). Key points are discussed
below. More details are provided in Tab B of the staff's briefing
package, particularly comments 1.13, 3.6, 3.11, and comments 3.14
through 3.17.
Comment: Urinary spot sampling. Several commenters raised concerns
about urinary spot sampling. They noted that biomonitoring studies (and
NHANES in particular) take one spot urine sample as opposed to
averaging urine samples collected over a longer period of time.
Commenters claimed that spot sampling does not accurately reflect the
duration of exposure necessary to develop MRDE. They stated that the
exposure information should match the exposure scenario of that hazard
data to which it is compared (e.g., chronic exposure to chronic
hazard). They asserted that spot sampling would not capture the day-to-
day variability in urinary concentration of most phthalates and would
overestimate the risk. However, another commenter stated that spot
samples are as predictive of urinary concentration as 24-hour urinary
samples. (Comments 1.13 and 3.11).
Response: The CHAP and CPSC staff estimated daily intake of each
phthalate by modeling creatinine-related metabolite measurements across
participants in NHANES. NHANES measured metabolites from one spot urine
sample per individual in the study. Spot urine samples were collected
at different sites and at various times of the day and days of the
week. Additionally, because participants for each NHANES study cycle
were randomly selected from civilian, non-institutionalized individuals
in the United States, according to a probability-based complex,
multistage sample design, the estimated daily intakes are
representative of the U.S. population. The estimated daily intakes and
the resulting HQs and HIs represent estimated population per capita
phthalate exposure across the 2-year NHANES cycle, not average daily
estimates of an individual's exposure across time. Thus, an estimated
proportion of the population with an HI less than one, using HBM from
NHANES, represents the estimated proportion of the population within
that cycle that would have an HI less than one at any one given time of
that cycle. Estimates based on NHANES HBM do not imply that individuals
with HI less than one at a given time will continue to have an HI less
than one for all 2 years of a NHANES study cycle.
CPSC staff notes that longer-term exposures are not necessarily
required to cause MRDE. Numerous studies in animals have demonstrated
that MRDE and related effects can occur after one or a few doses.\33\
Shorter-term elevated exposure could be related to adverse health
outcomes in the fetus, if the exposure occurs during the window of
susceptibility. Although human phthalate exposures may vary from day-
to-day or during the course of a day, humans are exposed to phthalates
every day.
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\33\ Carruthers and Foster (2005); Creasy et al. (1987); Ferrara
et al. (2006); Gray et al. (1999); Hannas et al. (2011); Jobling et
al. (2011); Jones et al. (1993); Li et al. (2000); Parks et al.
(2000); Saillenfait et al. (1998); Saitoh et al. (1997); Spade et
al. (2015); Thompson et al. (2004); Thompson et al. (2005).
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Comment: Fasting time differences. Some commenters discussed
whether fasting times affected the concentration of phthalate
metabolites in the urine in NHANES results and whether there were
differences in fasting times in the data sets of different years.
(Comment 3.6).
Response: The CHAP paid special attention to the possible effects
of fasting on NHANES data. Staff reviewed NHANES documentation
34 35 and spoke with CDC staff regarding fasting protocol
changes between cycles. No fasting requirements changed. Therefore,
fasting requirements were not a factor in the decision not to combine
data from subsequent NHANES cycles with the 2005/2006 data. CPSC staff
concludes that fasting may have an impact on food-borne phthalates; but
if anything, this would result in underestimation of risk. CPSC staff
concludes that the major conclusion or the recommendation of the CHAP
report would not change whether the CHAP included the early NHANES data
or not.
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\34\ National Health and Nutrition Examination Survey, 2005-2006
Data Documentation, Codebook, and Frequencies. Available at: https://wwwn.cdc.gov/Nchs/Nhanes/2005-2006/FASTQX_D.htm.
\35\ National Health and Nutrition Examination Survey, 2003-2004
Data Documentation, Codebook, and Frequencies. Available at: https://wwwn.cdc.gov/nchs/nhanes/2003-2004/PH_C.htm.
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Comment: Urinary excretion rates and metabolites. Some commenters
raised concerns about the urinary excretion rates and the metabolites
used in the NHANES data. One commenter asserted that staff's analysis
in its June 2015 report of the 2009/2010 and 2011/2012 NHANES data sets
overestimated exposures because it did not consider urinary excretion
rates. Another commenter stated that the metabolites used for DINP and
DIDP could lead to underestimation of phthalate risk when compared to
other phthalates, such as DEP, DBP, DIBP, and BBP. Five commenters
asked CPSC to re-evaluate exposure using additional metabolite
biomarkers for DINP, DNOP, and other phthalates and also re-evaluate
using later NHANES data. One of the commenters asserted that the
quantitative estimates of DINP risk from the 2017 analysis provided by
CPSC staff were calculated incorrectly and were 17 percent too high.
The commenter requested that staff use multiple metabolites (e.g., MINP
and MCOP) to estimate DINP exposure instead of just one (MCOP). The
commenter noted that exposure estimated for DEHP used four metabolites.
(Comments 3.14 through 3.17).
Response: Regarding staff's 2015 report and excretion rates, the
additional information necessary to calculate directly urinary mass
excretion rates was not collected during the 2005/2006 or 2007/2008
NHANES studies. Therefore, the extrapolation method was the only option
available to the CHAP. Staff replicated the CHAP's reported exposure
and risk estimates using the 2005/2006 NHANES data and
[[Page 49956]]
applied the same methods to calculate estimates from the later NHANES
studies. Regarding metabolite biomarkers, CPSC used MCOP to analyze
phthalate exposure, as the CHAP did. This was appropriate because for
exposed individuals, MCOP will be detected more frequently and at
higher levels than other DINP metabolites. Regarding the use of both
MINP and MCOP to estimate DINP exposures, staff does not agree that the
estimated exposures for DINP in the 2015 and 2017 analyses were
incorrect. CPSC staff used one metabolite, MCOP, to estimate DINP
exposure in order to be consistent with the CHAP methodology and
previous staff exposure and risk documents. The CHAP recognized that
there are multiple ways to estimate phthalate exposure using individual
and combined phthalate metabolites, and the CHAP provided a table of
potential metabolites and associated fraction of the urinary metabolite
excreted factors. CHAP report at Table D-1.
Comment: SFF data. A commenter noted that SFF data were collected
before the CPSIA was implemented, and before an asserted sharp decline
in DEHP exposure. Thus, according to the commenter, basing the NPR on
the SFF data (which was the exposure data used to determine that 5
percent of infants have an HI greater than one) is not supportable.
(Comment 3.5).
Response: Infants' and children's phthalate exposures tend to be
greater than adults' exposure.\36\ For the phthalates in the CHAP's
cumulative risk assessment, daily intakes were generally twofold to
threefold greater in SFF infants than in their mothers. CHAP report at
Table 2.7. No more recent information on infant exposures is available
than the 1999/2005 SFF data, which was used by the CHAP (and
subsequently by CPSC in the NPR). Infant exposures may have changed
since 2005, but staff has no infant data to quantify any change.
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\36\ CHAP (2014); Sathyanarayana et al. (2008a); Swan (2008);
Swan et al. (2005).
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2. Scenario-Based Exposure Assessment
a. Summary
Because biomonitoring data do not provide any information about the
sources of phthalate exposure, the CHAP also included a scenario-based
exposure assessment in its report. CHAP report at pp. 49-60, Appendix
E1. The exposure assessment evaluated exposure from individual sources,
such as toys, personal care products, and household products. The
assessment considered the exposure routes of inhalation, direct and
indirect ingestion, and dermal contact. The CHAP stated that its goal
was to determine the significance of exposure to phthalates in toys and
to estimate exposure to toddlers and infants for all soft plastic
articles, except pacifiers (because pacifiers do not contain
phthalates). Id. at p. 49. For phthalates that are currently prohibited
from being in children's toys and child care articles, the CHAP report
provides estimated exposures that would hypothetically occur if
phthalates were allowed in those products. Id. at pp. 49-50.
Scenario-based exposure estimates are developed using information
about relevant sources of phthalate exposure (e.g., concentrations of
phthalates in soil, dust, and in products); data on migration or
leaching of phthalates from products; physiological information (e.g.,
body weight and skin surface area); and information about how the
subpopulations use and interact with products, including frequency and
duration of contact with products and environmental media.
The exposure assessment considered seven categories of exposure
sources and activities involving those sources: Diet, prescription
drugs, personal care products, toys, child care articles, indoor
environment, and outdoor environment. Id. at p. 50. For each
subpopulation (pregnant women/WORA, infants, toddlers, and children),
the assessment provides estimated daily aggregate exposures to each of
the eight phthalates included in the cumulative risk assessment. Id. at
pp. 50-51 and Table 2.11. The relative contribution (percent of total
exposure) for each activity was determined. The analysis found that for
women, diet contributes more than 50 percent of the exposure to DIBP,
DNOP, DEHP, DINP and DIDP. Id. at Appendix E1-26. For infants and
toddlers, more than 50 percent of DIBP, DINP, and DIDP exposure and
more than 40 percent of DEHP exposure comes from diet.
Although certain phthalates had not been permitted in children's
toys and child care articles since 2008, the exposure assessment
considered what contribution these products could make to overall
phthalate exposure if those phthalates were allowed in children's toys
and child care articles. The exposure analysis showed that, on average,
mouthing and dermal exposure to toys could contribute around 12.8
percent to the overall DINP exposure of infants, if DINP were used in
these products. CHAP report at Appendix E1, Table E-21. The same
analysis shows that dermal contact with child care articles could
contribute up to an additional 16.5 percent of the overall exposure to
infants. Therefore, if DINP were used in all of the products that were
included in the scenario-based exposure assessment, children's toys and
child care articles could account for around 29 percent of infants'
total exposure from all evaluated sources. Id.
It is not possible to accurately quantify the number of toys that
might have DINP in them if the interim prohibition were lifted or to
quantify the effect that changes in DINP exposure would have on the
percentage of the population (infants, pregnant women, or WORA) with HI
less than or equal to one.
b. Comments Concerning Scenario-Based Exposure Assessment
Comment: Exposure through diet. Commenters noted that diet is the
primary source of exposure to phthalates for infants and children and
that children's toys and child care articles contribute very little to
overall phthalate exposures, especially for women of reproductive age
and fetuses. They reasoned that, therefore, a prohibition on phthalate-
containing children's toys and child care articles would have little
effect on overall risk. (Comment 5.3).
Response: CPSC disagrees that the contribution from sources other
than diet are negligible, especially for DINP. The scenario-based
exposure assessment in the CHAP report shows that mouthing and dermal
exposure to toys could contribute an average of 12.8 percent, 5.4
percent, and 1 percent of the overall DINP exposure to infants,
toddlers, and children, respectively, if DINP were used in these
products. CHAP report at Appendix E1, Tables E1-21, E1-22 and E1-23.
Mouthing and handling soft plastic teethers and toys could contribute
12.8 percent (mean exposure) or 16.6 percent (95th percentile
exposures) of total DINP exposure in infants. Id. at Appendix E1,
Tables E1-21. Dermal contact with the evaluated toys and child care
articles may contribute up to an additional 16.5 percent of exposures
to infants. Id. Therefore, although infants' DINP exposure was
primarily from diet, up to 29 percent may be due to the presence of
DINP in the evaluated toys and child care articles (Id. Figure 2.1).
Comment: Exposure through house dust. One commenter noted that
house dust contributed to background exposure, that DEHP was in 100
percent of dust samples, that consumer products and building materials
were the source of such dust, and that the EPA soil screening levels
for DEHP were exceeded by the concentrations found. (Comment 5.4).
[[Page 49957]]
Response: The CHAP's and staff's analyses considered exposures to
house dust. The CHAP's exposure scenarios estimated theoretical
exposures from house dust. The CHAP found that for infants and
toddlers, incidental ingestion of household dust contributed roughly 25
percent to the total BBP exposure and 15 percent to total DEHP
exposure. For children, the CHAP found that household dust contributed
about 18 percent to DEHP exposures. CHAP report at Appendix E1-35.
Additionally, because NHANES includes exposures from all routes, the
NHANES estimates would have included the survey individual's exposures
to household dust.
C. Risk Assessment
As the CPSIA directed, the CHAP considered risks of phthalates in
combination and in isolation. The CHAP conducted a cumulative risk
assessment to evaluate the effects of multiple phthalates, specifically
phthalates known to cause MRDE and other adverse effects on male
fertility. As explained in section III.C.3, the CHAP used information
from toxicity studies concerning MRDE and human biomonitoring studies
to determine a hazard quotient (HQ) for each phthalate and the hazard
index (HI) for each individual in the two populations of interest
(pregnant women and children). To assess risks of phthalates in
isolation, the CHAP used a margin of exposure (MOE) approach.
For reasons discussed in sections III.C.1 and IV.A.1. of this
preamble, the CHAP and CPSC have focused on phthalates' association
with MRDE. The CHAP's and CPSC's determination of risk associated with
the use of phthalates in children's toys and child care articles is
based on a cumulative risk assessment that considers the contribution
that allowing antiandrogenic phthalates to be used in children's toys
and child care articles would have on the overall cumulative risk from
phthalates. Relying on this cumulative risk assessment, the Commission
determines that, to meet the CPSIA's criteria of reasonable certainty
of no harm and protection of the health of children, it is necessary to
prohibit children's toys and child care articles containing
concentrations of more than 0.1 percent of the phthalates that can
cause MRDE (DINP, DIBP, DPENP, DHEXP, and DCHP). In this section, we
discuss the cumulative risk assessment and related comments. We discuss
each phthalate in section IV.D of this preamble.
1. Cumulative Risk Assessment
a. Summary
i. CHAP's Analysis and NPR
A cumulative risk assessment estimates the potential risk following
exposure to multiple ``stressors,'' in this case, multiple phthalates.
As discussed in section III.C of this preamble, the CHAP found, and
CPSC agrees, that certain phthalates cause male reproductive
developmental effects and may appropriately be considered in a
cumulative risk assessment. CPSC concludes that a cumulative risk
assessment is appropriate here because evidence indicates that
phthalates are ``dose additive.'' That is, for phthalates that cause
MRDE, the chemicals will act together; the effects of one such
phthalate will add to the effects of another such phthalate. As the
CHAP report explained, experimental studies show the additive effects
of phthalates on MRDE.\37\ The CHAP also demonstrated that the
phthalates included in the CHAP's cumulative risk assessment share a
common mechanism of action (primarily antiandrogenicity) and affect the
same target organ (primarily the testes).
---------------------------------------------------------------------------
\37\ Hannas et al. (2012); (2011); Howdeshell et al. (2007);
(2016); (2008).
---------------------------------------------------------------------------
This rule is based on a cumulative risk assessment that uses the
methodology employed by the CHAP, along with exposure data from the
most recent NHANES data sets. The cumulative risk assessment follows a
hazard index (HI) approach that is commonly used for cumulative risk
assessments. The CHAP's cumulative risk assessment was consistent with
the recommendations of a National Academy of Sciences report on
cumulative risk assessment of phthalates. Cumulative risk assessment of
chemical mixtures has been an established practice since the 1980s. The
CHAP introduced a minor modification to the standard methodology: The
CHAP calculated hazard indices for each individual sampled in NHANES
rather than the more common HI approach of using population percentiles
from exposure studies on a per-chemical basis. This allowed the CHAP to
calculate hazard quotients (HQs) for each phthalate and an HI for each
individual in each study. This avoids overestimating the risk for
individuals with higher than average exposures, such as those at the
90th and 95th percentiles.
The CHAP calculated an HQ for each phthalate using three sets of
``potency estimates of antiandrogenicity'' (PEAAs). The PEAA is an
estimate of the exposure at which the risk of MRDE is negligible. The
CHAP estimated a PEAA for each phthalate by dividing the MRDE
``antiandrogenic'' point of departure (POD; toxicity endpoint) by an
uncertainty factor (UF). The POD is the lowest dose level at which an
adverse effect was seen. A UF is a quantitative factor that is used to
account for uncertainties associated with available data (e.g.,
interspecies, intraspecies, database, and toxicity uncertainties). The
CHAP stated that it used three sets of PEAAs to explore the effect of
different methodology (e.g., different uncertainty factors and PODs) on
cumulative risk estimates to ``determine the sensitivity of the results
to the assumptions for PEAAs and the total impact on the HI approach.''
CHAP report at p. 4. Each case brings a different perspective to the
risk assessment. The CHAP report discusses the three cases at pages 63-
64. Case 1 was based on published, peer-reviewed values using a study
by Kortenkamp and Faust.\38\ Case 2 was based on a relative potency
method with DEHP as the index chemical, using multiple-dose studies of
in-vitro fetal testosterone production by Hannas et al. (2011).\39\ For
Case 3, the CHAP derived new PEAA values after considering all the
available literature, including studies such as Boberg et al.
(2011).\40\ As explained in response to comments, CPSC staff concludes
that each of the three cases has certain advantages, all three are
appropriate, and the risks resulting from the three cases are quite
similar.
---------------------------------------------------------------------------
\38\ Kortenkamp and Faust (2010).
\39\ Hannas et al. (2011).
\40\ Boberg et al. (2011).
---------------------------------------------------------------------------
The CHAP calculated HQs for each phthalate by dividing the exposure
by the PEAA. The CHAP then calculated the HI by summing the HQs for
each phthalate. If the HI is greater than one, there may be concern for
antiandrogenic effects in the exposed population due to cumulative
effects of phthalates. As explained previously, the CHAP used 2005/2006
NHANES data for exposure estimates for pregnant women and 1999-2005 SFF
data for exposure estimates for mothers and infants. CPSC staff
subsequently repeated the CHAP's analysis using more recent NHANES
data. The CHAP found that pregnant women had median HIs of about 0.1
(0.09 to 0.14), while the 95th percentile HIs were about 5, depending
on which set of PEAAs was used. Roughly 10 percent of pregnant women
had HIs greater than one. CHAP report at Table 2.16. Infants had median
HIs about 0.2, while the 95th percentiles were between
[[Page 49958]]
0.5 and 1.0. About 5 percent of infants had HIs greater than one. Id.
The CHAP characterized the distribution of the estimated HIs, by
reporting the central tendency measure (statistical median \41\) and
the upper percentiles (95th, and 99th). CHAP report at Table 2.16. The
CHAP's analysis showed that the median HIs for NHANES pregnant women
were less than one (HIs of 0.09 to 0.14), but the 95th percentile HIs
were greater than one (HIs of 3.6 to 6.1). Staff notes that the CHAP
emphasized that an HI greater than one is the metric that defines
excess exposure, relative to the acceptable exposure level; the CHAP
did not indicate that the 95th percentile, or any other part of the
cumulative risk distribution, should be used to establish unacceptable
risk for risk management purposes. The CHAP, having determined that an
HI greater than one was necessary to identify the population at risk,
then used the distribution of HIs to identify the percentage of the
population with an estimated HI greater than one. Staff notes that,
while the CHAP presented the distribution statistics, described above,
the CHAP focused on the proportion of the population with HIs exceeding
one, not on any particular percentile of the distribution. To repeat,
the CHAP neither used nor suggested a specific percentile as a
threshold for recommendations or regulatory proposals.
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\41\ The median is the midpoint of the distribution, where one-
half of the values are smaller than (i.e., below) the median value,
and one-half of the values are larger than the median. The 95th
percentile of the distribution is the value indicating 95 percent of
values are smaller than this value, and 5 percent of values are
larger. The median and 95th percentile values describe the data
distribution, in this case the HI values estimated for the
population of pregnant women or women of reproductive age who
experience phthalate exposures. These values, by themselves, do not
define acceptable risk levels. Rather, the acceptable risk level is
a policy decision.
---------------------------------------------------------------------------
The CHAP's HI approach is consistent with the CPSC's chronic hazard
guidelines (Chronic Guidelines). The Chronic Guidelines discuss a
safety factor approach to determine acceptable risk for a reproductive
or developmental toxicant. 57 FR 46626, 46656 (Oct. 9, 1992). Under the
safety factor approach, one determines the acceptable daily intake
(ADI) for a substance by adding a safety factor to the lowest no
observed effect level (NOEL) seen among relevant studies. The Chronic
Guidelines state that if the hazard is ascertained from human data, a
factor of 10 is applied to the NOEL, and if the hazard is ascertained
from animal data, a factor of 100 is applied. Id. Staff states that the
safety factor approach is similar to the HI approach that the CHAP
followed. The CHAP's PEAA values are equivalent to an ADI, and the HI
is the ratio of the daily exposure to the ADI. The Chronic Guidelines
do not define the percentage of the population (i.e., number of
individuals versus the sample population or entire population) that
must have an HI less than one to ensure a ``reasonable certainty of no
harm . . . with an adequate margin of safety.''
As discussed in the NPR preamble, based on the CHAP report, the
Commission proposed to prohibit children's toys and child care articles
containing the antiandrogenic phthalates the CHAP had examined. The NPR
stated that the Commission considers that an HI less than one is
necessary to ensure a reasonable certainty of no harm to children,
pregnant women, or other susceptible individuals with an adequate
margin of safety and to protect the health of children. 79 FR at 78334.
The NPR also stated that the Commission considers that an HI less than
one is necessary to protect the health of children. Id. at 78335.
In the NPR, the Commission stated the CHAP's determination that
approximately 10 percent of pregnant women and 5 percent of infants had
an HI greater than one. The Commission did not establish directly,
however, that there was a specific proportion of the population that
must have an HI less than or equal to one to ensure a ``reasonable
certainty of no harm with an adequate margin of safety'' or to
``protect the health of children.''
ii. Analysis Using Most Recent Data
After publication of the NPR, CPSC staff analyzed NHANES data for
WORA (from 2007 through 2014). CPSC staff reports for 2015 and 2017;
TAB A of CPSC staff's briefing package: Staff's analysis shows that the
risk to WORA, as indicated by HI, has decreased. Median and 95th
percentile HIs for WORA are both less than one. Staff estimates that
between 98.8 and 99.6 percent of WORA have HIs less than or equal to
one. Out of a sample of 538 WORA in the 2013/2014 cycle, 99.5 percent
of WORA have an HI less than or equal to one when considering PEAA Case
1 and 99.6 percent when considering Case 3. For PEAA Case 2, an
estimated 98.85 percent of WORA have an HI less than or equal to one in
the same cycle. See Tab A of staff's briefing package. This means that
some individual WORA in the NHANES sample have an HI greater than one
for each PEAA case. Out of a sample of 538 WORA, for PEAA Case 1, three
WORA had an HI greater than one; for PEAA Case 2, nine WORA had an HI
greater than one; and for PEAA Case 3, two WORA had an HI greater than
one. However, the national population projection for HI greater than
one is not estimable at the upper percentiles of the distribution due
to sampling variability. Thus, staff is unable to estimate the
percentage of WORA with an HI greater than one in the population of
approximately 60 million WORA in the United States.
As noted in Tab A of the staff's briefing package, the decreases in
HI are primarily due to decreases in DEHP exposures. The HQ for DINP is
replacing the HQ for DEHP proportionally for contributions to the total
HI. In each PEAA case, DINP has less potency than DEHP; thus, even
though DINP's proportion of contribution to total HI is increasing, the
values of HI have still decreased overall across cycles.
CPSC does not have exposure data for infants that is more recent
than the SFF data on which the CHAP relied. Because the risk to WORA
has declined since 2005/2006, it is possible that exposures and risks
to infants have also declined. However, because the routes of exposure
(e.g., food, medicines, products) are different for each target
population, it is not possible to quantify the changes in one
population based on the other. As explained in section IV.B.1, infants'
exposures generally are two- to threefold greater than adults. Thus,
CPSC concludes that phthalate exposures and risks in WORA probably
underestimate the risks to infants and children.
CPSC's assessment of the risk (and the need for this rule) is also
informed by the fact that, although the overall risk as portrayed in
the cumulative risk assessment has decreased, DINP's contribution to
the cumulative risk has greatly increased. It is not possible to
quantify accurately the number of toys expected to have DINP or the
effect of changes in DINP exposure on the percentage of the population
(infants, pregnant women, or WORA) with HI less than or equal to one.
However, any increase in exposure due to resumed or increased use of
DINP in products is likely to decrease the percentage of the population
with HI less than or equal to one. Allowing DINP to be re-introduced
into children's toys and child care articles would open a pathway of
exposure to a phthalate that studies have clearly demonstrated causes
adverse effects on male reproductive development. Although DIBP, DPENP,
DHEXP, and DCHP are not currently found in children's toys and child
care articles (or only rarely), these phthalates
[[Page 49959]]
also cause MRDE and contribute to the cumulative risk.
b. Comments on Cumulative Risk
i. Appropriateness of Conducting a Cumulative Risk Assessment
Comment: General acceptance of cumulative risk assessment.
Commenters asserted that cumulative risk assessment is not a generally
accepted approach. They stated that cumulative risk assessment is not
appropriate as a basis for regulatory action, but only as a screening
analysis. However, another commenter noted that ``when multiple
phthalates act on a similar biologic target, it is critical to
understand and regulate based on their combined effect on human
health.'' (Comments 2.1 through 2.3).
Response: Cumulative risk assessment is a well-established approach
to evaluate risks posed by mixtures of multiple chemicals. EPA first
issued guidelines for the risk assessment of chemical mixtures in 1986.
Subsequently, ATSDR and the World Health Organization (WHO) issued
guidance for cumulative risk assessment of chemical mixtures.\42\ EPA
routinely uses cumulative risk assessment to assess risks from
pesticides, as required by the Food Quality Protection Act of 1996.
Additionally, EPA and ATSDR use cumulative risk assessment to assess
risks under Superfund.\43\ EPA also has performed cumulative risk
assessments, to assess phthalates.\44\ The CHAP followed guidance
issued by the National Academy of Science for conducting cumulative
risk assessments with the one modification, explained above, that
allowed the CHAP to calculate HQs for each phthalate and an HI for each
individual in the NHANES and SFF studies. Regarding the assertion that
the CHAP's cumulative risk assessment was only a screening-level
analysis, CPSC concludes that the CHAP's analysis is a refined
assessment that could be considered tier 3, the highest tier, under the
framework established by the WHO. The CHAP's CRA began with a
comprehensive review of the toxicology and exposure literature. The
primary exposure assessment for the CHAP report was based on
measurements of phthalate metabolites in a statistically representative
population (NHANES study) of actual people. As required for tier 3
assessments under the WHO framework, the CHAP's analysis included
probabilistic measurements of exposure and risk.
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\42\ EPA (1986). EPA (2000b), ATSDR (2004), and WHO (Meek et al.
2011).
\43\ ATSDR (2017; EPA (2017); Howdeshell et al. (2016).
\44\ Christensen et al. (2014); Gallagher et al. (2015).
---------------------------------------------------------------------------
Comment: Dose additivity. Several commenters asserted that there
was not sufficient evidence of dose additivity, especially at low
doses, to conduct a cumulative risk assessment for phthalates. Some
commenters asserted that one needs a common mode or mechanism of action
to support an assumption that phthalates are additive, and they stated
that evidence of a common MOA was lacking. Commenters stated that the
CHAP had not considered all the relevant papers on dose additivity.
(Comments 2.4 through 2.8).
Response: The CHAP did not need to present evidence of a common MOA
or mechanism of action to justify performing a cumulative risk
assessment because data from laboratory studies by Hannas and
Howdeshell show that phthalate mixtures, in fact, act in a cumulative,
additive fashion.\45\ Thus, the CHAP did not have to make any
assumptions about additivity. In fact, one of the reasons that the CHAP
chose MRDE as the health effect for its CRA is that MRDE is the only
health endpoint that was extensively studied in phthalate mixtures.
CHAP report at p. 2. Moreover, even without a common mechanism of
action, chemicals can have cumulative effects in mixtures.\46\
Substances can act on the same process, but in different ways, to
produce additive effects. In any event, CPSC concludes that evidence
demonstrates that the phthalates in the CRA do have a common mechanism
of action. As discussed, the phthalates all act on the male
reproductive system. More specifically, they act by inhibiting
testosterone production in the testis during a critical period in
development by decreasing expression of genes involved in steroid
synthesis.\47\ Additional factors, such as reduced expression of
insulin-like hormone 3 gene (insl3), also are at work.\48\
---------------------------------------------------------------------------
\45\ Hannas et al. (2012); (2011); Howdeshell et al. (2007);
(2016); (2008).
\46\ Axelstad et al. (2014); Christiansen et al. (2009);
Howdeshell et al. (2016); Levin et al. (1987); Rider et al. (2008;
2010; 2009).
\47\ Foster et al. (2001); Gray et al. (2000); Mylchreest et al.
(1998); Parks et al. (2000).
\48\ Foster (2005); Howdeshell et al. (2016); NRC (2008); Wilson
et al. (2004).
---------------------------------------------------------------------------
Regarding low doses, studies of phthalate mixtures at low doses do
not exist, and the commenters did not present any evidence of a
threshold for phthalate-induced MRDE. Although mixture studies at low
(environmental) doses have not been performed, there are published
studies in which the doses of the individual phthalates produced little
or no effect, but the mixtures produced significant cumulative
effects.\49\ In a recent study, rats were exposed to phthalates and
other antiandrogens at doses well below the NOAEL. Although the
individual phthalates had no observable effect, the mixture induced
MRDE-related effects.\50\ Thus, additivity occurs even at doses where
individual phthalates have no observable effect. As discussed in
response to comments 2.6 and 2.7, CPSC concludes that the CHAP did
consider all relevant papers and that dose addition is appropriate for
assessing the cumulative effects of phthalates and other antiandrogens.
---------------------------------------------------------------------------
\49\ Axelstad et al. (2014); Christiansen et al. (2010);
Hotchkiss et al. (2004); Howdeshell et al. (2007); (2016); Rider et
al. (2010).
\50\ Conley et al. (2017).
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Comment: Mode or mechanism of action. Commenters asserted that the
mechanism of action by which phthalates affect male reproductive
development is not clear. They argued that, in the absence of clarity
that phthalates share a common mechanism of action, the CHAP should not
conduct a cumulative risk assessment. Some commenters focused
particularly on DINP, asserting that DINP does not have the same mode
or mechanism of action as other phthalates. (Comments 1.21 through
1.25).
Response: Knowledge of the mode or mechanism of action can help
inform the risk assessment process. However, a detailed understanding
of the mode/mechanism of action is never required to perform a risk
assessment. Several studies have shown that the phthalates act by
inhibiting testosterone production in the testis during any critical
period in development,\51\ by decreasing expression of genes involved
in steroid synthesis. Reduced expression of insulin-like hormone 3 gene
(insl3) is an additional pathway.\52\ Furthermore, all of the
phthalates in the cumulative risk assessment induce a similar spectrum
of effects, known as the ``phthalate syndrome,'' and which is also
described as ``antiandrogenic'' effects. DINP has been clearly
established by multiple studies as causing the same pattern of effects
(phthalate syndrome) \53\ and by other studies as acting by the same
MOA as other phthalates in the cumulative risk
[[Page 49960]]
assessment.\54\ Other experts agree that the phthalates in the CHAP's
cumulative risk assessment act by the same mechanism of action.\55\
Staff also notes that mixtures studies including DINP show that the
effects of DINP and other phthalates are additive.\56\ Therefore, a
common mechanism of action is not necessary to include DINP in the
cumulative risk assessment.
---------------------------------------------------------------------------
\51\ Foster et al. (2001); Gray et al. (2000); Mylchreest et al.
(1998); Parks et al. (2000).
\52\ Foster (2005), Howdeshell et al. (2016), NRC (2008), and
Wilson et al. (2004).
\53\ Adamsson et al. (2009); Boberg et al. (2011); Clewell et
al. (2013b); Gray et al. (2000); Hannas et al. (2011); Masutomi et
al. (2003).
\54\ Gray et al. (2000); Hannas et al. (2011).
\55\ Foster (2005); Howdeshell et al. (2016); NRC (2008).
\56\ Hannas et al. (2012); (2011); Howdeshell et al. (2007);
(2016); (2008).
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Comment: Inclusion of permanently prohibited phthalates in CRA.
Commenters asserted that it was not appropriate for the CHAP to include
DEHP and other phthalates that are subject to CPSIA's permanent
prohibition in the CHAP's cumulative risk assessment. Commenters
asserted that nearly all of the risk in the CHAP's cumulative risk
assessment is due to exposures to those phthalates, yet they can no
longer contribute to the cumulative risk from exposure to children's
products. At least one commenter stated that if the cumulative risk
assessment excluded phthalates subject to the CPSIA's permanent
prohibition, the HI would be less than one. The commenter reasoned
that, therefore, there is a reasonable certainty of no harm from the
use of any other phthalates in children's products. Thus, the statutory
requirement to ``ensure a reasonable certainty of no harm to children,
pregnant women, or other susceptible individuals with an adequate
margin of safety'' is satisfied without continuing the interim
prohibition. Another commenter stated that a cumulative risk assessment
is useful when exposure to each single substance is below the level of
concern, but exposures to multiple chemicals with the same mechanism of
action (or that affect the same endpoint) at the same time rise to
levels of concern. However, the commenter asserted, with phthalates,
only one chemical (DEHP) poses a risk in isolation. (Comments 2.9 and
5.2).
Response: In accordance with direction in the CPSIA, the CHAP
examined phthalates in isolation and in combination with other
phthalates. 15 U.S.C. 2057c(b)(2)(B)(ii). Moreover, to accurately
assess cumulative risk, it was appropriate for the CHAP to include DEHP
(and other phthalate subject to CPSIA's permanent prohibition).
Although DEHP is not allowed in children's toys and child care
articles, it is permitted in other products. DEHP is found in drinking
water, surface water, storm water, soil, and wildlife.\57\ It is found
in indoor and outdoor air, household dust, and indoor surfaces. DEHP
has been found in gloves, footwear, personal care products, medical
devices, paints, adhesives, sealants, wallpaper, flooring and food.
Thus, given the number and variety of sources of exposure, DEHP should
be included in the cumulative risk assessment. The results of staff's
cumulative risk assessment using more recent NHANES data, show that,
even though exposure to DEHP is decreasing, phthalate exposures are
still high enough that some women in the data sample have HIs exceeding
one. The CHAP's and staff's analyses indicate that risk is not entirely
driven by DEHP. Considering 2013/2014 NHANES data, DINP contributes
approximately 6 to 51 percent (medians) or 18 to 76 percent (95th
percentiles) of the overall risk. See TAB A of staff's briefing
package.
---------------------------------------------------------------------------
\57\ Clark (2009); Versar (2010).
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ii. NHANES Data in the Cumulative Risk Assessment
Comment: Using the CRA to assess individual's risk. Some commenters
asserted that calculating risk using NHANES data (that uses spot urine
sampling rather than measurements over time) is not an accurate
indication of a person's real exposure to phthalates and thus the
CHAP's HI calculations do not show true risk. They asserted it is
inappropriate and not scientifically supportable to report results as a
proportion of the population with an HI over one (because the
individual spot urine samples are too variable and do not represent
chronic exposures over time). For example, one commenter stated that an
individual's HI from a spot urine sample ``has essentially no bearing
on risk to the individual'' because it does not represent a repeat
dose, longer term exposure is necessary to induce the adverse effects
(phthalate syndrome) and that a few HIs (or HQs such as DINP) above one
also are not representative of the population risk. Commenters thought
that this approach was overly conservative and overestimated the risk.
(Comments 3.11 through 3.13).
Response: Staff concurs that spot urine samples are variable and
are not representative of long-term exposures, but also notes that
numerous studies in animals have demonstrated that MRDE and related
effects can occur after one or a few doses.\58\ It is impossible to
know whether a particular spot urine sample is overpredicting or
underpredicting the actual exposure. HBM data are a direct measure of
human exposure and, therefore, superior to alternatives such as modeled
exposures. NHANES is a high quality study and provided exposure data
that are representative of the U.S. population. Similar data with 24-
hour or longer sampling times are not available.
---------------------------------------------------------------------------
\58\ Creasy et al. (1987); Jones et al. (1993); Saitoh et al.
(1997); Saillenfait et al. (1998); Gray et al. (1999); Parks et al.
(2000); Li et al. (2000); Thompson et al. (2004); Carruthers and
Foster (2005); Thompson et al. (2005); Ferrara et al. (2006); Hannas
et al. (2011); Jobling et al. (2011); Spade et al. (2015).
---------------------------------------------------------------------------
Staff concludes that it is statistically appropriate to portray the
individual NHANES data as a proportion of the NHANES sample population
with an HI less than or equal to one. Staff notes that in the 2013/2014
NHANES sample of 538 WORA (of approximately 60 million WORA in the U.S.
population), there were from two to nine individuals with a HI greater
than one (i.e., at risk), depending on the PEAA case. As described in
section 5.4 of TAB A of staff's briefing package, the 2013/2014 NHANES
data set cannot be used to estimate how many WORA in the U.S.
population have HIs greater than one.
Comment: Impact of more recent NHANES data on CRA. Several
commenters stated that CPSC staff's analysis of more recent NHANES data
shows that the risk from phthalates has declined. Commenters noted that
that even at the 95th percentile, the HI is uniformly less than one and
has decreased further from the HI values calculated for the 2011/2012
data cycle. They concluded that the CRA using current exposure data
shows that there is a reasonable certainty of no harm. Thus, the
statutory requirement is satisfied without Commission action. (Comment
3.2).
Response: The CRA using current exposure data indicates that at
least some of the actual WORA in the NHANES data had HIs greater than
one, showing that there is not a reasonable certainty of no harm with
an adequate margin of safety. Moreover, the CHAP did not indicate that
the 95th percentile, or any other part of the cumulative risk
distribution, should be used to establish unacceptable risk. Therefore,
discussions of acceptable risk should not be limited to the 95th or
other percentile. Staff concurs with commenters that through the NHANES
cycles, the population of WORA with an HI greater than one has
decreased. In the 2013/14 NHANES sample of 538 WORA, there were from
two to nine actual women from the NHANES sample with a HI greater than
one (i.e., at risk), depending on the PEAA case.
[[Page 49961]]
The 2013/2014 NHANES data cannot be used to estimate how many WORA in
the U.S. population have HIs greater than one.
Comment: Use of values above the 95th percentile. A commenter on
the 2017 staff report asserted that it is ``scientifically
inappropriate to go above the 95th percentile in evaluating either
individual or cumulative risks to the fetuses of women of reproductive
age as indicated by the CRA.'' The commenter stated that going above
the 95th percentile values are too unstable to provide a basis for
regulatory decisions. The commenter noted that EPA's 2014 paper on five
phthalates reported the 95th percentile from the calculations of HIs
for three of the five phthalates (and the CHAP and CPSC's previous
analyses used the 95th percentile). (Comment 3.21).
Response: Neither the CHAP nor staff used the 95th percentile (or
any other percentile) as a threshold for recommendations or regulatory
proposals in evaluating individual or cumulative risks. The 95th
percentile, as well as other measures such as the average, median, or
99th percentile, is a commonly used metric, included by the CHAP, to
help characterize the distribution of exposure and risk in a
population. The rule is not based on any particular percentile, but on
the observation that actual women from the NHANES sample have HIs
greater than one.
For its cumulative risk assessment, the CHAP addressed the range of
HI in representative populations--including but not limited to the 50th
percentile, 95th percentile, and 99th percentile. In all analyses of
the updated NHANES data for WORA and in the rule, staff does not rely
on any particular percentile as a threshold for recommendations or
regulatory proposals, but on the fact that at least some of the actual
WORA from the NHANES samples had HIs greater than one. Because at least
some of the actual WORA from the NHANES samples had HIs greater than
one in every NHANES data cycle analyzed, there is not a reasonable
certainty of no harm with an adequate margin of safety. For example,
for the 2013-14 NHANES data, between two and nine real women from the
sample of 538 WORAs had an HI greater than one, depending on the case
model used. The CHAP emphasized, and the Commission continues to agree,
that an HI greater than one is the metric that defines excess exposure.
CPSC disagrees with the blanket statement that it is scientifically
inappropriate to go above the 95th percentile in interpreting a
cumulative risk assessment. There is no scientific basis for an
assertion that the 95th percentile of a distribution is the largest
value that can be considered. The commenter specified that the values
above the 95th percentile are unstable. In this case, staff agrees that
the values associated with the upper tail of the distribution of HIs
(e.g., above the 95th percentile) have large variance estimates, due to
sample size (i.e., statistically unstable). The large variances mean
that we are precluded from estimating the precise number of WORA with
HIs greater than one in the larger population from which the sample was
selected. However, as noted above, actual women with HIs greater than
one were observed in every NHANES data cycle analyzed. As the commenter
mentioned, EPA's paper (Christensen et al. (2014)) states, ``we present
findings for the 95th percentile of estimated phthalate intake
recognizing that there may be more variability in these values, because
this information provides insight into the potential risk at the
highest levels of exposure in a general population setting.'' Staff
considers EPA's discussion to be consistent with the CHAP's and staff's
presentation of results because the goal is to provide insight into the
risks among the most highly exposed individuals. The CHAP's and staff's
analyses are based on human biomonitoring, i.e., actual observations of
people. These observations should be considered in risk management and
decision-making.
iii. The Three Cases
Comment: Criticism of the three cases (PEAAs) the CHAP used.
Commenters raised concerns about all three of the CHAP's cases. Some
commenters asserted that the cases inappropriately combined points of
departure (PODs) for different types of endpoints (for example, reduced
testosterone production, observation of MNGs, and retained nipples) for
different effect measures. Commenters stated that the cases had treated
transient, non-adverse biomarkers in the same way as adverse effects
when selecting PODs. (Comments 4.1 through 4.3 and 4.6).
Response: We discuss the major criticisms of the specific cases in
the following comment/responses. As discussed in the section on MRDE, a
wide variety of effects of different types and severities are included
under the umbrella of phthalate syndrome. Staff disagrees with
commenters' assertions that these effects cannot be considered equal
when selecting PODs. Any observed effect related to the male
reproductive system is a marker of biological activity that could lead
to a broad range of effects in the organism. Thus, such markers should
be given equal weight in quantifying the biological activity.
Comment: Case 1. Commenters criticized the study that was the basis
for Case 1 (Kortenkamp and Faust), which calculated a potency estimate
based on a lowest observed adverse effect level (LOAEL) rather than a
no observed adverse effect level (NOAEL) which the commenters stated
introduced greater uncertainties. Commenters also asserted that the
publication of more robust studies since 2010 (e.g., Boberg) indicating
that the Case 1 PEAAs were overstated by a factor of 4 made Case 1
outdated. Commenters also criticized the use of larger uncertainty
factors (UFs) for some phthalates. (Comments 4.7 and 4.8).
Response: CPSC agrees that more recent literature has been
published regarding the selection of PODs and UFs for phthalates that
cause phthalate syndrome. However, this does not mean that Case 1
should be excluded. Rather, alternate approaches (such as Case 1) to
POD selection are useful to understand the potential effects of POD and
UF selection on risk. Notably, the CHAP considered all relevant hazard
studies (including those cited by the commenters) in its de novo review
of the literature for Case 3.
Comment: Case 2. Commenters criticized various aspects of Case 2
and the study underlying it, (Hannas et al. (2011)). Several commenters
asserted that CPSC should completely disregard Case 2. They asserted
that Case 2 was based on a model that used a hypothetical NOEL for DINP
and that the CHAP did not validate the assumptions in the model. The
commenters stated that, because ``real world data'' exist that are more
applicable and reliable, CPSC should not use Case 2. Commenters
asserted that relative potency of DINP and DEHP was inappropriately
estimated. For example, a commenter stated that an in vivo study (i.e.,
using live animals) by Gray et al. (2000) had previously estimated that
DEHP is 10-20 times more active than DINP, so the CHAP should not have
used Case 2's estimate that DEHP is 2.3 times more active than DINP. A
commenter asserted that the study underlying Case 2 (Hannas et al.
(2011)) has several flaws and limitations, such as the rats were
obtained from different labs, dose-response curves for DINP and DEHP
were different, and the study used a low number of animals per group.
(Comments 4.9 through 4.13).
[[Page 49962]]
Response: The CHAP established alternate approaches (such as Case
2) to POD selection that are useful in understanding the potential
effects of POD and UF selection on risk. By stating that Case 2 was
based on a model, commenters imply that Hannas et al. (2011) was not an
in vivo study. However, Hannas et al. did expose live animals to
phthalates. Measurements of the rate of testosterone synthesis were, by
necessity, made in a biochemical assay (in vitro study) using tissue
obtained from the animals. The CHAP's use of a study that included
observation of effects from exposure both to DINP and DEHP allowed a
direct comparison of the relative potencies of different phthalates
because multiple phthalates were tested in the same laboratory using
the same methods. This is the unique advantage of Case 2. Staff
considers the estimation of relative potency in Hannas et al. (2011) to
be valid and notes that substantially similar methods have been used in
the estimation of relative potency.\59\ Moreover, a 2009 review study
estimated that DINP is 2.6 times less potent than DEHP.\60\ This
estimate is closer to the Hannas et al study underlying Case 2 than to
the Gray study mentioned by commenters.
---------------------------------------------------------------------------
\59\ Furr et al. (2014).
\60\ Benson (2009).
---------------------------------------------------------------------------
Regarding other alleged flaws in the Hannas et al. study, staff
agrees that the rats used to study DEHP and DINP were obtained from
different suppliers (as noted by Hannas et al.) and that control
testosterone production was different for each group of rats (also
identified in the publication). However, the study adequately
controlled for these differences. Staff also concludes that the number
of animals per dose group was appropriate.
Comment: Case 3. Commenters generally preferred Case 3. Some stated
that the CHAP should have relied only on Case 3 in its cumulative risk
assessment. However, some commenters had criticisms of Case 3. One
commenter asserted that the POD for DINP was inadequately justified. A
commenter characterized Case 3 as ``muddled'' and noted inconsistencies
in how the CHAP discussed the NOEL for DINP. Comments questioned
whether multi-nucleated gonocytes (MNGs), which are the basis of Case
3's point of departure for DINP, are relevant to antiandrogenicity and
whether MNGs are an adverse effect. A comment questioned the choice of
50mg/kg/day as the POD for DINP, asserting that it is too conservative.
(Comments 4.15 through 4.17).
Response: For Case 3, the CHAP derived PEAAs for each phthalate
based on the CHAP's own literature review considering all published
peer reviewed studies on each phthalate. The CHAP considered studies by
Clewell et al. (2013a, 2013b), Hannas et al. (2011), and Boberg et al.
(2011) as most relevant and highest quality for identifying a NOAEL for
DINP. CHAP report at pp. 97-98. The CHAP found that the lowest no
effect level seen in these studies was 50 mg/kg-day based on observance
of MNGs in the Clewell study. As the CHAP noted, this was a
conservative estimate. It is common practice in risk assessment to
select the most conservative health endpoint (from quality data sets)
when performing a hazard assessment.\61\ Although MNG formation is not
directly linked to changes in testosterone production, and not
necessarily a direct antiandrogenic effect of phthalate exposure, MNGs
are a characteristic effect routinely observed in phthalate
syndrome.\62\ Thus, the observation of MNGs formed after DINP exposure
is consistent with the occurrence of MNGs associated with exposure to
other active phthalates and is a marker of phthalates' effects in the
developing male reproductive system. Although MNGs might not be an
adverse effect, finding MNGs following DINP exposure supports that DINP
has a biological effect similar to the other active phthalates. Staff
concludes that the CHAP's assignment of the NOAEL for DINP at 50 mg/kg-
day based on the observation of MNGs, is reasonable.
---------------------------------------------------------------------------
\61\ Barnes and Dourson (1988); CPSC (1992); EPA (1991).
\62\ NRC (2008), Howdeshell (2016), and Gaido (2007).
---------------------------------------------------------------------------
2. Risk in Isolation
In accordance with the CPSIA's direction, the CHAP also considered
the risk of phthalates individually. 15 U.S.C. 2057c(b)(2)(B)(ii). As
discussed in section III.C.3.b, to do this, the CHAP used an MOE
approach. The CHAP chose this approach, in part, due to the
recommendation of a NRC report on risk assessment methodology.\63\ Like
the HI approach, the MOE is also widely accepted. Id. The MOE is the
``no observed adverse effect level'' (NOAEL) of the most sensitive
endpoint in animal studies divided by the estimated exposure in humans.
Higher MOEs indicate lower risks. Generally, MoEs greater than 100 to
1,000 are adequate to protect public health. CHAP report at pp. 20 and
69. The MOE approach is conceptually similar to the CPSC staff's
default approach in CPSC's Chronic Hazard Guidelines for assessing non-
cancer risks,\64\ and would lead to similar conclusions about risk. We
discuss the MOE for each phthalate the CHAP examined in section IV.D of
this preamble, and we discuss comments concerning risks in isolation in
that section as well.
---------------------------------------------------------------------------
\63\ NRC (2009).
\64\ 57 FR 46626 (Oct. 9, 1992).
---------------------------------------------------------------------------
D. Assessments/Determination for Each Phthalate
The CHAP assessed and made recommendations concerning each of the
phthalates that it examined. CHAP report at pp. 82-121. Based on the
CHAP report, CPSC staff's assessment, public comments on the NPR and
staff's NHANES reports, the Commission issues this rule prohibiting
children's toys and child care articles that contain concentrations of
more than 0.1 percent of DINP, DIBP, DPENP, DHEXP, and DCHP. The
Commission concludes that, based on the best available scientific data,
all of these phthalates cause MRDE and all contribute to the cumulative
risk. Previous sections of this preamble have discussed the health
effect of MRDE, exposure to phthalates, and the risk assessment for
these phthalates. This section presents the Commission's evaluation of
each of the phthalates covered under this regulation.
1. Phthalates Subject to the Interim Prohibition
The CPSIA established an interim prohibition on children's toys
that can be placed in a child's mouth and child care articles that
contain concentrations of more than 0.1 percent of DINP, DIDP, and
DNOP. 15 U.S.C. 2057c (b)(1). The CPSIA directs the Commission to
determine, based on the CHAP report, whether to continue in effect the
interim prohibitions on children's toys that can be placed in a child's
mouth and child care articles containing DINP, DIDP, and DNOP ``to
ensure a reasonable certainty of no harm to children, pregnant women,
or other susceptible individuals with an adequate margin of safety.''
Thus, for each of these phthalates, the Commission must decide whether
it is appropriate to make the interim prohibitions permanent under the
statutory criteria.
As explained in the preamble to the NPR and above, for phthalates
causing MRDE, the Commission considered the cumulative risk, which was
based on the CHAP's HI estimates. Consistent with the CHAP report, the
Commission considers that the acceptable risk is exceeded when the HI
is greater than one. This is also consistent with the CPSC's chronic
hazard guidelines. 57
[[Page 49963]]
FR 46626 (Oct. 9, 1992). The CPSC's chronic hazard guidelines consider
the ``acceptable risk'' for a reproductive or developmental toxicant to
be equivalent to an exposure equal to or less than the ``acceptable
daily intake'' (ADI), that is, an HI \65\ of less than or equal to one
for the population affected by the toxicant. Thus, the Commission
considers that an HI less than or equal to one is necessary ``to ensure
a reasonable certainty of no harm to children, pregnant women, or other
susceptible individuals with an adequate margin of safety.'' The
chronic hazard guidelines do not define the percentage of the
population (i.e., number of individuals versus the sample population or
entire population) that must have an HI less than one in order to
ensure a ``reasonable certainty of no harm . . . with an adequate
margin of safety.''
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\65\ HI is the ratio of the daily exposure to the ADI. The
CHAP's PEAA values are equivalent to an ADI, EPA reference dose
(RfD), ATSDR minimal risk level (MRL), or similar terms used by
other agencies.
---------------------------------------------------------------------------
In the NPR, the Commission proposed to prohibit children's toys and
child care articles containing more than 0.1 percent of DINP, DCHP,
DHEXP, and DPENP based on the CHAP's determination that approximately
10 percent of pregnant women and 5 percent of infants had an HI greater
than one. 79 FR at 78334-35. Thus, in issuing the NPR, the Commission
concluded that the proportion of populations not affected by cumulative
exposure to phthalates (at least 90 percent of pregnant women and 95
percent of infants) did not meet the standard of ``a reasonable
certainty of no harm with an adequate margin of safety.'' The
Commission did not establish directly, however, that there was a
specific proportion of the population that must have an HI less than or
equal to one to ensure a ``reasonable certainty of no harm with an
adequate margin of safety'' or to ``protect the health of children.''
Staff's analysis of the most recent NHANES data showed that
exposures to phthalates have changed. Using the CHAP's cumulative risk
assessment methodology and the most recent NHANES data, staff has
determined that between 98.8 and 99.6 percent of WORA (2013/2014
NHANES) had an HI less than or equal to one. As in previous NHANES data
cycles, some individuals in the 2013/2014 NHANES data set still have an
HI greater than one. Depending on the PEAA case used for analysis,
between two and nine of the approximately 538 WORA in the NHANES 2013/
2014 data sample had an HI of greater than one.\66\ Thus, a portion of
WORA is exposed to phthalates at levels that can induce MRDE or other
phthalate syndrome effects. For non-antiandrogenic phthalates (i.e.,
those that do not cause MRDE), the Commission considered the MOE, as
estimated by the CHAP to assess risk. As mentioned previously, MOEs
greater than 100-1,000 are generally considered adequate to protect
human health. Thus, the Commission considers a MOE of 100 or greater to
be necessary ``to ensure a reasonable certainty of no harm to children,
pregnant women, or other susceptible individuals with an adequate
margin of safety'' or to ``protect the health of children.''
---------------------------------------------------------------------------
\66\ The NHANES data was analyzed using 3 methods (Cases 1-3)
For Case 1, three WORA had HIs greater than 1. For Case 2, nine WORA
had HIs greater than 1. For Case 3, two WORA had HIs greater than 1.
---------------------------------------------------------------------------
a. Diisononyl phthalate (DINP)
i. Summary
The CHAP recommended that ``the interim prohibition on the use of
DINP in children's toys and child care articles at levels greater than
0.1 percent be made permanent.'' CHAP report at p. 99. The CHAP stated
that it made this recommendation ``because DINP does induce
antiandrogenic effects in animals, although at levels below that for
other active phthalates, and therefore, can contribute to the
cumulative risk from other antiandrogenic phthalates.'' Id. As
discussed in section III.C.4.a. of this preamble, the CHAP cited
multiple published studies that showed antiandrogenic effects after
DINP exposure in rats. Id. at 96-97. DINP is less potent, by perhaps
two- to 10-fold, than DEHP.\67\ However, DINP contributes to the
cumulative risk from all antiandrogenic phthalates. The CHAP found that
10 percent of pregnant women and up to 5 percent of infants have a HI
greater than one based on data at that time.
---------------------------------------------------------------------------
\67\ Gray et al. (2000); Hannas et al. (2011b).
---------------------------------------------------------------------------
CPSC staff examined more recent NHANES data than the dataset the
CHAP considered. Using the CHAP's methodology and the 2013/2014 NHANES
exposure data, CPSC staff determined that approximately 99 percent of
WORA in the U.S. population now have an HI less than or equal to one
(using the 2005/2006 NHANES data, 97 percent of WORA had an HI less
than or equal to one). Additionally, CPSC staff's evaluation of recent
NHANES data shows that exposure to DINP has increased approximately
five-fold since 2005/2006. DINP now contributes as much to the
cumulative risk as DEHP.
As shown by the scenario-based exposure assessment included in
Appendix E-1 of the CHAP report, lifting the interim prohibition on
children's toys that can be placed in the mouth and child care articles
containing more than 0.1 percent DINP could increase exposure to DINP
from these products, compared to exposures if DINP is not allowed in
these products. If DINP were used in all of the products that were
included in the scenario-based exposure assessment, DINP exposure from
children's toys and child care articles could account for up to about
29 percent of infants' total DINP exposure from all evaluated sources.
Staff does not know the extent to which manufacturers would return to
using DINP in children's toys and child care articles if the interim
prohibition were lifted. Staff is also unable to quantify the impact of
increased DINP exposure on the percent of WORA or infants that have an
HI less than or equal to one. However, staff notes that increased
exposure will increase the MRDE risk to the population.
The CHAP also assessed the risks of DINP in isolation and found
that the MOEs ranged from 830 to 1,500. CHAP report at pp. 95-99. As
discussed previously, MOEs of at least 100 are adequate to protect
public health. CPSC agrees with the CHAP's analysis that the MOEs for
DINP in isolation, did not present a risk. However, DINP exposure has
been increasing since the CHAP completed its analysis. Current analysis
suggests that DINP MOEs, in isolation, (e.g., the MOE is now 220 to
14,000 at the 95th percentile) are below the upper limit, and are
nearing the lower limit considered adequate for protecting public
health. Based on the CHAP's analysis and staff's analysis of more
recent NHANES data (and after consideration of the comments discussed
below), the Commission determines that continuing the interim
prohibition concerning DINP is necessary to ensure a reasonable
certainty of no harm to children, pregnant women, or other susceptible
individuals with an adequate margin of safety.
The Commission proposed to expand the scope of the restriction on
DINP's use so that the rule would prohibit all children's toys and
child care articles containing DINP rather than only children's toys
that can be placed in a child's mouth and child care articles. 79 FR at
78335. Likewise, the final rule prohibits all children's toys and child
care articles containing concentrations of more than 0.1 percent of
DINP. The
[[Page 49964]]
Commission determines that this expansion of scope is necessary to
protect the health of children. Covering all children's toys means that
the rule will protect against exposure to DINP through dermal contact
(through the skin from handling toys), indirect oral exposure from
children handling a toy and then placing their hands in their mouths,
and all mouthing behavior. The CHAP's estimates of oral exposure from
mouthing toys included any behavior in which the toy contacts the
mouth. CHAP report at Appendix E. However, the interim prohibition
covers only toys that can be placed in a child's mouth. The CPSIA
provides the following definition of ``toy that can be placed in a
child's mouth'':
For purposes of this section a toy can be placed in a child's
mouth if any part of the toy can actually be brought to the mouth
and kept in the mouth by a child so that it can be sucked and
chewed. If the children's product can only be licked, it is not
regarded as able to be placed in the mouth. If a toy or part of a
toy in one dimension is smaller than 5 centimeters, it can be placed
in the mouth.
15 U.S.C. 2057c(g)(2)(B). Thus, continuing the interim prohibition with
regard to DINP without expanding the scope would exclude toys that are
5 centimeters or larger in one dimension (or have parts 5 centimeters
or larger) even though children may be exposed to phthalates from
licking or otherwise contacting the toy with the lips and tongue.
Additionally, although staff does not have exposure estimates for
indirect oral exposure from handling toys and normal hand-to-mouth
behavior, staff concludes that exposures from handling toys will
further contribute to the cumulative risk. Based on the analysis
provided in Appendix E of the CHAP report, the Commission believes that
the rule should encompass any behavior in which the toy contacts the
mouth because this behavior provides a pathway of exposure to
antiandrogenic phthalates.
ii. Comments Concerning DINP
As noted in section IV.A, commenters presented numerous arguments
questioning whether phthalates are antiandrogenic, i.e., cause MRDE,
and about the cumulative risk assessment. This section discusses the
comments that focused on DINP.
(a) Health Effects of DINP Exposure
Comment: DINP and MRDE. Numerous commenters questioned whether DINP
is antiandrogenic, that is, whether it causes MRDE. Commenters asserted
that studies do not consistently show that DINP induces the effects
associated with rat phthalate syndrome (e.g., decreased fetal
testosterone, changes in anogenital distance, nipple retention,
reproductive tract malformation, decreased sperm production). They
cited numerous studies to support their assertions that DINP is not
antiandrogenic and they stated that, for these reasons, the CHAP should
not have included DINP in the cumulative risk assessment. However
another commenter supported the inclusion of DINP in the cumulative
risk assessment because DINP is antiandrogenic. (Comment 1.14).
Response: The CHAP found, and CPSC agrees, that DINP-induced
effects are consistent with phthalate syndrome in rats. Clewell et al.
found changes in testosterone, nipple retention, and AGD, among other
observations, by multiple laboratories, which indicate that DINP
exposure is associated with outcomes similar to the effects of other
phthalates such as DEHP and DBP that cause MRDE; these findings support
the conclusion that DINP causes phthalate syndrome. CHAP report at pp.
97-98. CPSC's conclusions are based on the weight of the evidence from
review of multiple studies (discussed in comment responses 1.15 to
1.20). Phthalate syndrome is a spectrum of effects and thus one does
not expect to observe all phthalate syndrome effects in all studies.
The CHAP noted that effects of the phthalates it evaluated were dose-
related. CHAP report at p. 2.
Although DINP is less potent than other antiandrogenic phthalates,
DINP can contribute to the cumulative risk from other phthalates. DINP
has similar effects as other antiandrogenic phthalates, and thus is
considered antiandrogenic in the context of the cumulative risk
assessment. CPSC concludes that because DINP causes phthalate syndrome,
it was appropriate for the CHAP to include DINP in its cumulative risk
assessment and for the Commission to prohibit children's toys and child
care articles containing DINP.
Comment: DINP and effects on testosterone production. Some
commenters stated that studies showed inconsistent results regarding
the effect of DINP on the production of testosterone and that this
indicates DINP does not induce rat phthalate syndrome. (Comment 1.15).
Response: As the commenters recognize, some studies do show
reductions in testosterone following DINP exposure.\68\ CPSC staff
agrees that some studies (e.g., Clewell et al. (2013a);(2013b))
involving repeated measurements over time have not shown permanent or
persistent changes in testosterone. Sometimes this was due to
differences in study design. However, permanent or persistent changes
in testosterone are not required to have an adverse impact on male
reproductive development; rather, transient reductions in the rate of
testosterone synthesis at the critical period of development do have
permanent effects (e.g., structural, functional) on male reproductive
organs.\69\ Furthermore, staff agrees with the study by Hannas et al.,
showing that the rate of testosterone synthesis, rather than plasma or
testicular levels, is the most relevant measure of phthalate-induced
effects on testosterone.\70\ Additionally, testosterone measurements
made after dosing lab animals with DINP has ended do not account for
the possible effects of ongoing exposure, as could be expected for
humans with exposures occurring after birth from food, water, or
contact with consumer products. Staff notes that its conclusions are
consistent with findings from a recent NAS systematic review of the
DINP scientific literature.\71\ In that review study, the authors
asserted with high confidence that DINP could be considered a
``presumed human hazard'' because of its potential to reduce
testosterone in male fetal rats.
---------------------------------------------------------------------------
\68\ Boberg et al. (2011); Borch et al. (2004); Clewell et al.
(2013a); (2013b).
\69\ Hannas et al. (2011).
\70\ Hannas et al. (2011).
\71\ NAS (2017).
---------------------------------------------------------------------------
Comment: Effect of DINP on anogenital distance. Some commenters
cited studies showing little or no effect on anogenital distance (AGD,
i.e., the distance from the anus to the genitalia) after dosing with
DINP. They asserted that these studies show DINP does not induce
phthalate syndrome. A commenter questioned the results of one study
where a significant decrease in AGD was observed, because of the very
small differences between the treated and control groups. (Comment
1.16).
Response: Reduced AGD is one of the abnormalities that
characterizes rat phthalate syndrome. CHAP report at pp. 1-2. The
commenter questioned the AGD reductions observed in the Boberg et al.
(2011) and Clewell et al. (2013b) studies; however, these results were
actually larger than the magnitude considered by the commenter as
unlikely to be biologically significant. Overall, the weight of
evidence in the studies cited by the commenter demonstrates that DINP
causes permanent effects on male reproduction. Thus, the commenter's
contention regarding a transient nature of DINP's effects on AGD
conflicts with the body
[[Page 49965]]
of evidence that DINP leads to phthalate syndrome. Furthermore, the
animal studies, which involve short term exposures, do not reflect the
continuous exposures that occur in humans.
Comment: Nipple retention. Commenters questioned whether nipple
retention is a relative endpoint when considering phthalates' effects
on humans and questioned the results of studies by Boberg et al. (2011)
and Gray et al. (2000). Commenters also noted that Clewell et al.
(2013b) reported no significant difference in nipples in male rats
exposed to DINP. (Comment 1.17).
Response: The CHAP specifically discussed nipple retention as a
relevant endpoint for antiandrogenic activity, and concluded that
nipple retention in male animals is consistent with phthalate-induced
reductions in testosterone levels. CHAP report at p. 16 and Appendix A-
2. Staff notes that nipple retention is sensitive to exposure of the
developing animal during key windows of susceptibility. Studies cited
by the commenters that indicate the dosing ends during gestation or
within the early part of the postnatal period do not consider possible
effects of ongoing exposure, as could be expected for humans with
exposures occurring after birth, but within early life periods of
vulnerability from food, water, or contact with consumer products. As
noted previously, phthalate syndrome is a spectrum of effects; all
effects will not be present in every study.\72\ Although nipple
retention in animals may not correspond to a specific endpoint in
humans, nipple retention is an antiandrogenic effect that could
manifest in different ways in humans.
---------------------------------------------------------------------------
\72\ Howdeshell et al. (2016).
---------------------------------------------------------------------------
Comment: Reproductive tract malformations. Commenters noted that a
number of animal studies involving DINP have not reported male
reproductive tract malformations, such as cryptorchidism or
hypospadias. For example, commenters stated that in the study by Gray
et al. (2000), the significance of the changes after DINP exposure were
unclear and questionable. (Comment 1.18).
Response: Staff recognizes that the same specific male reproductive
tract malformations have not been consistently observed following DINP
exposure. As noted previously, phthalate syndrome is a spectrum of
effects and not all effects will be observed in every study. As the
CHAP recognized, the observation of effects depends on the dose level
used in each study. CHAP report at p. 2. The three studies described by
the commenter as ``definitive'' studies (Hellwig et al., Hushka et al.,
and Waterman et al.) were not designed or intended to detect phthalate
syndrome effects. In fact, one of the ``definitive'' studies (Hushka et
al.) was on DIDP, which does not cause phthalate syndrome. Staff
acknowledges that the Clewell study demonstrates that DINP induces
limited or no phthalate syndrome effects following dietary dosing to
rats. In spite of this, the authors themselves conclude that DINP has
less potency than DEHP or DBP, but more than DEP when considering
effects on the male reproductive tract. They additionally state ``DINP
is simply less potent than DBP and DEHP, i.e., it has lower potency in
causing any adverse responses.'' Staff also notes that this study
involved oral dosing via feed, which is different than oral dosing
using a tube inserted into the stomach (gavage dosing), which is used
in typical developmental toxicity studies for determining phthalate
syndrome effects. Different dosing strategies may account for the lack
of effects seen in the Clewell study. Staff responds to commenters'
criticisms of other studies in comment/response 1.18 in Tab B of the
staff's briefing package.
Comment: DINP's effects on sperm. Several commenters asserted that
there is no strong evidence that DINP adversely affects sperm
production or quality. They discussed a number of studies regarding
DINP's effects on sperm parameters, male mating behavior, and
fertility. (Comment 1.19).
Response: Three studies that commenters described as definitive
were not actually designed or intended to detect phthalate syndrome
effects. One of them was on DIDP, which does not cause phthalate
syndrome. Inconsistencies could be due to study parameters or to the
lower potency of DINP compared to other phthalates that have more
consistent effects on sperm and fertility. Staff provides a more
detailed response in comment/response 1.19 in Tab B of the staff's
briefing package.
Comment: Multi-nucleated gonocytes (MNGs). Several commenters
disagreed with the CHAP's use of MNG formation as a phthalate syndrome
endpoint, and asserted that MNG formation is not a consequence of
exposure to DINP. Some commenters asserted that MNG induction should
not be considered an adverse effect because the MNGs are eliminated
within a few weeks after birth. (Comment 1.20).
Response: Although MNG formation is not linked directly to changes
in testosterone production, and not necessarily a direct antiandrogenic
effect of phthalate exposure, MNGs are a characteristic effect
routinely observed after dosing with phthalates.\73\ Thus, the
observation of MNGs formed after DINP exposure is consistent with
results after exposure to other active phthalates, such as DBP, and is
a marker of phthalates' effects in the developing male reproductive
system. Furthermore, one study suggests that the presence of MNGs may
be linked to reduced fertility or testicular germ cell cancer in
humans.\74\
---------------------------------------------------------------------------
\73\ Spade et al. (2015).
\74\ Ferrara et al. (2006).
---------------------------------------------------------------------------
Comment: Human epidemiology data and DINP antiandrogenicity. One
commenter asserted that the available epidemiology data do not support
the assertion that DINP is associated with reproductive effects in
humans. The commenter presented a review of four studies that evaluated
DINP's association with adverse human reproductive effects.\75\ The
review found lack of correlation or equivocal results in these studies.
The commenter also found that a more recent study that reported slight
reductions in AGD associated with DINP metabolites in mother's urine
was equivocal.\76\ Another commenter noted that statistical chance may
have been responsible for some of the epidemiology studies' positive
association. The commenter concluded that the weight of the current
information did not support that humans developed reproductive or
developmental issues following exposure to phthalates. (Comment 7.5).
---------------------------------------------------------------------------
\75\ The studies were (Joensen et al. (2012); Jurewicz et al.
(2013); Main et al. (2006); Mieritz et al. (2012).
\76\ Bornehag et al. (2015).
---------------------------------------------------------------------------
Response: Of the four studies mentioned by the commenter, two were
of adults and one was of boys aged 6-19 years. The CHAP concluded that
studies in adult men were less relevant to the CHAP's work because
exposures measured during adulthood cannot be used to infer childhood
or early life exposure. Observational epidemiology studies control for
the possibility of random chance, bias, or confounding in their study
design and analysis. The primary studies that commenters mentioned
discuss the studies' efforts to minimize these effects. Staff concludes
that most of the studies cited by the commenters are not relevant to
the current rulemaking on children's toys and child care articles
because they involved adults or older children. Because humans are
simultaneously exposed to multiple phthalates, it is difficult to
distinguish the effects of different phthalates in epidemiology
studies. Staff concludes that the overall
[[Page 49966]]
weight of the evidence demonstrates an association between prenatal
phthalate exposure and MRDE effects in infants.
(b) DINP and Risk
Comment: DINP's contribution to risk. Several commenters asserted
that DINP contributes little to the cumulative risk. They noted that
the CHAP's cumulative risk assessment showed that the estimated risks
associated with phthalate exposure were driven by DEHP and DBP, and
that DINP contributed only a small portion of the combined risk (less
than one percent). A comment on CPSC staff's 2017 report stated that as
DINP continues to replace DEHP, the risk will continue to fall, thus
increased replacement of phthalates by DINP will lower the cumulative
risk further than it currently is. Along these lines, the commenter
asserted that lifting the interim prohibition regarding DINP would have
only an ``inconsequential effect'' on cumulative risk. Some commenters
asserted that, because DINP is less potent than DEHP, even if DINP
entirely replaced DEHP, the 95th percentile HI would be far below one.
(Comments 3.3, 3.4, and 5.1).
Response: CPSC agrees that the median and 95th percentile HIs would
be less than one if all CRA phthalate exposures were considered to be
from DINP. However, a certain number of WORA in the 2013/2014 NHANES
sample have HIs and DINP HQs greater than one. Any increase in DINP
exposure could increase these individuals' risk. In addition, there are
a number of individuals that have HIs and DINP HQs near one. Additional
DINP exposure to these individuals could increase the risk to greater
than an HI of one (see comment response 3.2 and TAB A). Based on the
scenario-based exposure assessment, lifting the interim prohibition on
children's toys that can be placed in a child's mouth and child care
articles containing more than 0.1 percent of DINP could result in
children's toys and child care articles accounting for up to about 29
percent of total DINP exposure to infants. However, if DINP is not
allowed in children's toys and child care articles, such products would
not contribute to total DINP exposure. Staff is unable to quantify the
impact of changes in DINP exposure on the percent of WORA or infants
that have an HI less than or equal to one, although staff notes that an
increased exposure will increase the MRDE risk to the population. Staff
does not consider that increasing MRDE risk to the population is
``inconsequential,'' particularly to those affected.
As the commenter points out, in reality DINP would not replace all
of the other phthalates because the differences in properties among the
phthalates limit their use depending on the intended application. WORA
with HQs greater than one were measured in each NHANES cycle despite
the interim prohibition on children's toys that can be placed in a
child's mouth and child care articles containing DINP. Any further
increase in DINP exposure could increase the risk from DINP.
Comment: ``Reasonable certainty of no harm'' and DINP. Some
commenters asserted that the standard ``reasonable certainty of no
harm'' is met without continuing the interim prohibition regarding
DINP. They reasoned that, because the CPSIA permanently prohibited
children's toys and child care articles containing DEHP, DBP and BBP,
those phthalates cannot contribute to any cumulative risk from these
children's products in the future; and without those phthalates, the HI
clearly is less than one, so there is a reasonable certainty of no harm
from use of DINP in these children's products. In contrast, other
commenters asserted that it ``turns logic upside-down'' to suggest that
``as DEHP is replaced by less toxic phthalates, there is a reasonable
certainty of no harm from increasing exposures to the remaining
phthalates,'' because the level of future replacement is unknown, but
it is known that the replacement phthalates present hazards.
Commenters on the staff's analysis of more recent NHANES data
asserted that CPSC staff's analysis clearly demonstrates that the
interim prohibition involving DINP can be lifted while meeting the
``reasonable certainty of no harm'' standard set forth in the CPSIA
because the NHANES 2013/2014 data show that cumulative risk for WORA
continues to decline with the HI consistently below one for the 50th
and 95th percentiles. (Comment 3.20).
Response: As explained, studies show that DINP contributes to the
cumulative risk. The CPSIA's permanent prohibition keeps DEHP, BBP, and
DBP out of children's toys and child care articles; however these
phthalates continue to be used in other products and thus they
contribute to the cumulative risk. The CRA demonstrates that HIs
greater than one were observed in actual WORA sampled, in all NHANES
data cycles, including the most recent (2013/2014). Thus, male children
born to these women could be at risk for MRDE. Because a portion of the
potentially sensitive population is still near the level of concern (HI
greater than 1), permanently prohibiting children's toys and child care
articles containing DINP is still necessary to ``ensure a reasonable
certainty of no harm'' to children and pregnant women with an
``adequate margin of safety.''
Comment: Diet as source of exposure to DINP. Several commenters
noted that diet is the primary source of exposure for DINP, as well as
other phthalates, in infants and children. They asserted that DINP
contributes so little to the combined risk from exposure to phthalates
from all sources that a permanent prohibition on DINP's use in
children's toys and child care articles would have little effect on the
overall risk and, thus, the prohibition is not supported. (Comment
5.3).
Response: The CHAP report does show that food, rather than
children's toys or child care articles, provides the primary source of
phthalate exposure to women and children. CHAP report at pp. 49-53. The
other main contributors were soft plastic toys and teethers (via
mouthing), and personal care products such as lotions, creams, oils,
soaps, and shampoos via dermal contact. Id. Figure 2.1.
The scenario-based exposure assessment included in the CHAP report
shows that mouthing and dermal exposure to toys could contribute an
average of 12.8 percent, 5.4 percent, and 1 percent of the overall DINP
exposure to infants, toddlers, and children, respectively, if DINP were
used in these products. Id. at Appendix E1, Tables E1-21, E1-22, and
E1-23. Mouthing and handling soft plastic toys and teethers could
contribute 12.8 percent (mean exposure) or 16.6 percent (95th
percentile exposures) of total DINP exposure in infants. Id. at Table
E1-21. Dermal contact with the evaluated toys and child care articles
may contribute up to an additional 16.5 percent of exposures to
infants. Id. Therefore, although infants' DINP exposure was primarily
from diet, up to 29 percent may be due to the presence of DINP in the
evaluated toys and child care articles. Id., Figure 2.1.
Comment: DINP in isolation. Commenters asserted that the CHAP found
no significant health risk from exposure to DINP by itself (considered
in isolation), given the very large MOE estimates for median exposures,
as well as for the 95th percentile of exposure. Commenters concluded
that because of the high MOEs for DINP from all sources, the margins of
safety must be even larger for the children's products' contribution to
DINP exposure, and thus, there is no basis for a permanent prohibition
on children's toys and child care articles containing DINP. A commenter
also stated that replacement of DEHP by DINP would not be expected to
increase the risk because of DINP's lower potency. A commenter
[[Page 49967]]
also asserted that even a doubling in DINP exposures would not increase
the risk substantially, thus, restricting DINP's use is unwarranted.
(Comment 5.5).
Response: As discussed previously, the CHAP's recommendations and
the Commission's rule are based on the cumulative risk from DINP in
combination with other phthalates. We note, however, that due to the
increased exposure to DINP (as seen in the 2013/2014 NHANES data),
DINP's risk in isolation has increased. Thus, DINP alone may dominate
the cumulative risk in the future, and DINP exposure in isolation may
approach the level of concern, especially considering Case 2. Using the
most recent NHANES data, the MOEs for WORA exposed to DINP range from
2300 to 150,000 (median) and 220 to 14,000 (95th percentile) for all
three cases.
CPSC disagrees with the assertion that doubling the DINP exposure
would not increase the risk substantially, and notes that currently, a
certain proportion of actual WORA have a DINP HQ greater than one and a
certain proportion of actual WORA have DINP HQs near one. Increasing
exposure to DINP may increase the number of individuals with an HQ
greater than one or may increase the HQs of individuals with an HQ
greater than one. Furthermore, doubling DINP exposures would lower the
MOE for DINP to 110 to 7000 (95th percentile). The CHAP noted that MOEs
exceeding 100 to 1000 are typically ``considered adequate for
protecting public health.'' CHAP report at p. 4. Current analysis
suggests, therefore, that DINP MOEs, in isolation, (e.g., the MOE is
220 for Case 2) are below the upper limit, and are nearing the lower
limit considered adequate for protecting public health.
Comment: Safety of DINP compared to alternatives. Numerous
commenters expressed concern about prohibiting the use of DINP in
children's toys and child care articles when not much is known about
the toxicity and safety of alternative chemicals. Some commenters
stated that the safety of alternative plasticizers should be thoroughly
tested before placing restrictions on DINP. Commenters stated that DINP
is well studied, has been used for over 50 years, and has been found
safe for its intended uses. Commenters were concerned that prohibiting
the use of DINP in children's toys and child care articles could
potentially put people at greater risk as substitutes with uncertain
safety are used instead. (Comment 10.5).
Response: CPSC shares the commenters' concerns about the shift of
chemical use from phthalates with known toxicity to phthalate
alternatives with less toxicity or exposure information. The CHAP
identified several data gaps for phthalate alternatives. CPSC agrees
with the CHAP's recommendation that appropriate federal agencies should
perform additional research and risk assessment activities on
phthalates and phthalate alternatives to fill in data gaps. However,
CPSC does not believe that the lack of data on alternative plasticizers
means we should not take action regarding DINP. DINP has in fact been
covered by the interim prohibition since February 2009. As explained in
the NPR and throughout this document and the staff's briefing package,
based on the CHAP report and staff's analysis, we conclude that DINP
causes adverse effects on male reproductive development and contributes
to the cumulative risk of these effects from other antiandrogenic
phthalates. Thus, the Commission determines that prohibiting children's
toys and child care articles containing concentrations of more than 0.1
percent of DINP is necessary to ensure a reasonable certainty of no
harm and to protect the health of children.
(c) Scope of Prohibition Regarding DINP
Comment: Support for expanding scope to all children's toys rather
than those that can be placed in a child's mouth. Several commenters
stated that the Commission lacked justification to expand the
restriction on DINP from ``children's toys that can be placed in a
child's mouth'' to all children's toys. One commenter noted that it is
not clear the CHAP intended to recommend this expansion. Other
commenters noted that because the MOEs for DINP show that it does not
present a risk in isolation, there is no basis for expanding the
interim prohibition to cover all children's toys. Commenters asserted
that the Commission had little justification for the change and that it
would have little effect on the risk. They noted that any risk comes
primarily from mouthing. However, other commenters, citing evidence
that DINP is associated with MRDE and the CHAP's CRA analysis, stated
that the CRA clearly supported the proposed prohibition involving DINP
and the proposed expansion of scope from toys that can be placed in a
child's mouth to all children's toys. (Comments 6.1 and 6.2).
Response: As discussed previously, this rule is based on the
cumulative risk analysis demonstrating that DINP (and other
antiandrogenic phthalates) causes MRDE and, and the most recent NHANES
data that shows that there were from two to nine individuals with a HI
greater than one in a sample of 538 WORA. Limiting the rule to
children's toys that can be placed in a child's mouth would exclude
toys that could also expose children to DINP through mouthing behaviors
other than placing the toy in the mouth and through hand to mouth
exposure (e.g., licking) as well as direct exposure through dermal
contact. The 2013/2014 NHANES data indicate that exposure to DINP is
increasing, even with the CPSIA's interim prohibition in effect.
Covering all children's toys (rather than only those that can be placed
in a child's mouth) will decrease exposure to DINP and thus reduce the
risk of MRDE.
Comment: Reliance on low cost and low dermal exposure as rationale
in NPR. Commenters asserted that the NPR had provided faulty rationales
for the expansion. A commenter asserted that the Commission had
inappropriately based the expansion to all children's toys on
consideration of testing costs rather than on risk. A commenter stated
that the reasoning stated in the NPR in favor of expanding the rule to
all children's toys was inconsistent with the reasons CPSC had stated
for not expanding the prohibition to all children's products. The
commenter understood that CPSC did not propose to cover all children's
products because of negligible exposure due to the infrequency of
mouthing of children's products (that are not children's toys or child
care articles). The commenter asserted that this same rationale
indicates that the rule should not be expanded beyond children's toys
that can be placed in a child's mouth. (Comment 6.3 and 6.6).
Response: The NPR mentioned that the proposed expansion would have
little impact on testing costs. 79 FR 78335. However, the NPR merely
noted this anticipated impact; the reason for the expansion is to
reduce the risk of adverse health effects. Regarding any inconsistency
between proposing to expand the interim prohibition to all children's
toys and proposing not to cover additional children's products, we note
that the proposal concerning all children's products was based
primarily on a lack of information to assess the impact on children's
health.
Comment: Reliance on European assessment as rationale in NPR.
Commenters objected to the NPR's discussion of the Europe Union's
regulations on phthalates. Commenters noted that the NPR stated that
the European Commission's 2005 directive on phthalates had
distinguished between all children's toys and toys that
[[Page 49968]]
can be placed in the mouth due to uncertainties about DINP, DNOP and
DIDP. The NPR suggested that, now that the CHAP had issued its report,
these uncertainties no longer exist. Commenters objected to the NPR's
reliance on this reasoning to support the expansion of the regulation
of DINP. In addition, the EU submitted a related comment noting that
the European Chemicals Agency (ECHA) conducted an extensive review in
2010 on DINP, DIDP and DNOP, and concluded that exposure other than
mouthing did not present further risk. (Comments 6.4 and 6.5).
Response: Regarding the ECHA's re-evaluation, that report did not
specifically address the distinction between children's toys and toys
that can be placed in a child's mouth. Additionally, the 2013 ECHA
report used different health end points (liver toxicity) as the focus,
rather than the MRDE focus used by the CHAP and CPSC. Moreover, the
2013 ECHA report did not consider cumulative health risks from multiple
phthalates.
b. Di-n-octyl phthalate (DNOP)
The CHAP concluded that DNOP does not lead to male developmental
reproductive toxicity in animals and, therefore, does not contribute to
the cumulative risk. Although DNOP does cause other developmental
(supernumerary ribs) and systemic effects (liver, thyroid, immune
system, and kidney), the MOEs in humans are very high. Therefore, the
CHAP recommended that the current prohibition involving DNOP be lifted.
CHAP report at pp. 91-95. The NPR noted that DNOP levels in people are
so low that they are not detectable in about 90 percent of humans, and
that DNOP is not antiandrogenic, and, therefore, does not contribute to
the cumulative risk. 79 FR 78334. Based on the CHAP report and staff's
analysis, the Commission concludes that continuing the prohibition of
children's toys that can be placed in a child's mouth and child care
articles containing more than 0.1 percent of DNOP is not necessary to
ensure a reasonable certainty of no harm to children, pregnant women,
or other susceptible individuals with an adequate margin of safety.
c. Diisodecyl phthalate (DIDP)
The CHAP concluded that DIDP does not lead to male developmental
reproductive toxicity in animals and, therefore, does not contribute to
the cumulative risk. The CHAP considered the risk of DIDP in isolation
and found that DIDP does cause other developmental (supernumerary ribs)
and systemic effects (liver, and kidney). However, because the MOEs in
humans are sufficiently high (range from 2,500 to 10,000 for median
DIDP exposures and 586 to 3,300 for upper-bound exposures), the CHAP
recommended that the interim prohibition involving DIDP be lifted. CHAP
report at pp. 100-105. As noted in the NPR, DIDP exposure would need to
increase by more than 250 times to exceed an acceptable level. 79 FR
78334. Based on the CHAP report and staff's analysis, the Commission
concludes that continuing the prohibition of children's toys that can
be placed in a child's mouth and child care articles containing more
than 0.1 percent of DIDP is not necessary to ensure a reasonable
certainty of no harm to children, pregnant women, or other susceptible
individuals with an adequate margin of safety.
d. Comments Concerning DNOP and DIDP
Comment: Prohibition concerning DNOP and DIDP should be made
permanent. Some commenters asked the Commission to make the interim
prohibition regarding DNOP and DIDP permanent. Commenters reiterated
the CHAP's conclusions that DNOP is a potential developmental toxicant,
causing supernumerary ribs, and a potential systemic toxicant, causing
adverse effects on the liver, thyroid, immune system, and kidney. They
noted that the CHAP stated that DIDP was a `probable toxicant' based on
reproductive and developmental effects, and adverse systemic effects on
the liver and kidney. A commenter suggested that ``there could be a
cumulative impact from exposures to a mixture of DINP, DNOP and DIDP,
which would enhance the concern about harm.'' Commenters asserted that
without enough data to conduct a robust risk assessment, lifting the
prohibition involving DNOP and DIDP will lead to elevated exposure to
these two phthalates when others are covered by prohibitions. (Comments
5.8 and 5.9).
Response: The CHAP concluded that DIDP and DNOP do not appear to
possess antiandrogenic potential and therefore the CHAP did not include
them in the cumulative risk assessment. As discussed above, the CHAP's
analysis of DIDP and DNOP in isolation showed high MOEs (greater than
1,000 for all populations) that are sufficient to protect human health.
The CHAP found that DNOP exposure levels are so low that one of the
metabolites, MNOP, was not detectable in about 90 percent of humans.
CHAP report at Table 2.6. Exposures would have to increase by a large
measure before the acceptable levels of exposure would be exceeded.
Thus, the CHAP report and staff's analysis do not support a conclusion
that prohibiting the use of DNOP or DIDP in children's toys that can be
placed in a child's mouth and child care articles is necessary to
ensure a reasonable certainty of no harm to children, pregnant women,
or other susceptible individuals with an adequate margin of safety.
Comment: ``Reasonable certainty of no harm'' and DNOP and DIDP.
Some commenters asserted that lifting the interim prohibition
concerning DNOP and DIDP while banning other phthalates would raise
questions about whether such action meets the ``reasonable certainty of
no harm'' standard. They noted that the CHAP report found exposure to
these chemicals from toys and child care articles and that the CHAP
reported developmental and systemic toxic effects caused by these
chemicals in animal studies. (Comment 5.9).
Response: The CHAP concluded that DIDP and DNOP do not appear to
possess antiandrogenic potential and therefore the CHAP did not include
these two phthalates in the cumulative risk assessment. Assessing these
chemicals in isolation, the CHAP found that the margins of exposure
were sufficiently high to protect human health. Therefore, staff
concludes that there is no justification to continue the prohibition
involving DNOP or DIDP.
2. Phthalates Subject to the Rule But Not Currently Prohibited
Under the CPSIA. In addition to determining what action to take
regarding the interim prohibition, the CPSIA directed the Commission to
``evaluate the findings and recommendations of the Chronic Hazard
Advisory Panel and declare any children's product containing any
phthalates to be a banned hazardous product under section 8 of the
Consumer Product Safety Act (15 U.S.C. 2057), as the Commission
determines necessary to protect the health of children.'' 15 U.S.C.
2057c(b)(3)(B).
In the absence of a definition or other guidance on the meaning of
the phrase ``necessary to protect the health of children,'' CPSC
interprets the phrase in the context of the CHAP report and CPSC's
chronic hazard guidelines,\77\ which consider that an HI less than or
equal to one is necessary to protect the health of children. As
explained in the CHAP report, the four additional phthalates all cause
male reproductive developmental effects and would contribute to the
cumulative risk.
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\77\ 57 FR 46626 (Oct. 9, 1992).
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[[Page 49969]]
The CHAP reviewed the potential health risks associated with eight
phthalates that were not prohibited by the CPSIA, and it recommended
that four additional phthalates (DIBP, DPENP, DHEXP, and DCHP) be
prohibited from use in children's toys and child care articles. The
CHAP found that these four phthalates are associated with adverse
effects on male reproductive development and contribute to the
cumulative risk from antiandrogenic phthalates. CPSC staff has reviewed
the CHAP's assessment and agrees with the recommendation. Based on the
CHAP's evaluation and the staff's assessment, the Commission proposed
to prohibit children's toys and child care articles containing more
than 0.1 percent of DIBP, DPENP, DHEXP, and/or DCHP. 79 FR 78335-78337.
The Commission determines that prohibiting children's toys and child
care articles that contain concentrations of more than 0.1 percent of
DIBP, DPENP, DHEXP, and/or DCHP is necessary to protect the health of
children and issues this final rule to establish this prohibition.
Although current exposures to these four phthalates are low, these
phthalates could be used as substitutes for the phthalates subject to
prohibition, thus increasing human exposures from MRDE phthalates. All
of these four phthalates are capable of contributing to the cumulative
risk. A 2014 study demonstrated that three of these four phthalates
(DPENP, DHEXP, and DCHP) had much greater potency than DEHP which the
CPSIA permanently prohibits from use in children's toys and child care
articles.\78\ The potency of the fourth (DIBP) was slightly less or
similar to DEHP.\79\ In addition, these four phthalates may have a
greater potential for exposure than DINP, because lower molecular
weight plasticizers generally have higher migration rates.\80\
---------------------------------------------------------------------------
\78\ Furr et al. (2014).
\79\ Furr et al. (2014); Hannas et al. (2011).
\80\ Dreyfus and Babich (2011).
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a. Diisobutyl Phthalate (DIBP)
The CHAP recommended prohibiting the use of diisobutyl phthalate
(DIBP) in children's toys and child care articles. CHAP report at pp.
110-113. DIBP is associated with adverse effects on male reproductive
development and contributes to the cumulative risk from antiandrogenic
phthalates. Furthermore, as noted in the NPR, DIBP has been found in
some toys and child care articles during compliance testing by CPSC.
The CHAP estimated that DIBP contributes up to 5 percent of the
cumulative risk in infants from all products and sources. CHAP report
at Table 2.16. More recent biomonitoring data show that DIBP exposures
and risks have increased by about 50%. TAB A of staff briefing package.
DIBP is similar in toxicity to DBP, which is one of the phthalates
subject to the CPSIA's permanent prohibition. DIBP was shown to be
antiandrogenic in numerous studies and it acts in concert with other
antiandrogenic phthalates. The CHAP found that current exposures to
DIBP are low. When considered in isolation, DIBP has a MOE of 3,600 or
more. CHAP report at pp. 24, 110-111. DIBP contributes roughly 1 to 2
percent of the cumulative risk from phthalate exposure to pregnant
women and 1 percent to 5 percent in infants. However, the CHAP based
its recommendation on cumulative risk.
Based on evaluation of the CHAP report and staff's review, the
Commission concludes that there is sufficient evidence to conclude that
DIBP is antiandrogenic and contributes to the cumulative risk. The
Commission also concludes that, applying the CPSC chronic hazard
guidelines, this phthalate is considered ``probably toxic'' to humans
based on sufficient evidence in animal studies. As discussed
previously, the Commission considers that a HI less than or equal to
one is necessary ``to protect the health of children.'' Using the most
recent biomonitoring data, some WORA in the sample have an HI that
exceeds one. For PEAA Case 1, three WORA had an HI greater than one;
for PEAA Case 2, nine WORA had an HI greater than one; and for PEAA
Case 3, two WORA had an HI greater than one. In addition, CPSC staff
has identified DIBP in a small portion of toys and child care articles
during routine compliance testing. Therefore, the rule prohibits
children's toys and child care articles containing concentrations of
more than 0.1 percent of DIBP. The Commission concludes that this
action is necessary to protect the health of children because it would
prevent current and future use of this antiandrogenic phthalate in
children's toys and child care articles.
b. Di-n-pentyl Phthalate (DPENP)
The CHAP recommended prohibiting the use of DPENP in children's
toys and child care articles. CHAP report at pp. 112-113. DPENP is
associated with adverse effects on male reproductive development and
contributes to the cumulative risk from antiandrogenic phthalates.
Furthermore, DPENP is the most potent of the antiandrogenic phthalates.
Prohibiting the use of DPENP would prevent its use as a substitute for
other banned phthalates. The Commission agrees with the CHAP's
recommendation for DPENP. Based on the CHAP report and previous
toxicity reviews by CPSC staff and a contractor,\81\ the Commission
concludes that there is sufficient evidence that DPENP is
antiandrogenic and contributes to the cumulative risk. For example, the
CHAP noted studies by Howdeshell et al. and Hannas et al., which found
that exposure to DPENP reduced fetal testicular testosterone
production. Id. at p. 112. The Commission also concludes that, applying
the CPSC chronic hazard guidelines, this phthalate is considered
``probably toxic'' to humans, based on sufficient evidence in animal
studies. Furthermore, DPENP is roughly two- to three-fold more potent
than DEHP.\82\ Although CPSC staff has not detected DPENP in children's
toys or child care articles, metabolites of DPENP have been detected in
humans,\83\ indicating that some exposure to DPENP does occur. In the
CHAP's analysis, up to five percent of infants and up to 10 percent of
pregnant women exceed the negligible risk level (HI greater than one).
Using the most recent biomonitoring data, some WORA in the sample have
an HI greater than one. Allowing the use of DPENP in children's toys
and child care articles would further increase the cumulative risk. As
discussed previously, the Commission considers that a HI less than or
equal to one is necessary ``to protect the health of children.''
Therefore, the rule prohibits children's toys and child care articles
containing concentrations of more than 0.1 percent of DPENP. The
Commission concludes that this action is necessary to protect the
health of children because it would prevent current and future use of
this antiandrogenic phthalate in toys and child care articles.
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\81\ Patton, (2010).
\82\ Hannas et al. (2011a).
\83\ Silva et al. (2010).
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c. Di-n-hexyl Phthalate (DHEXP)
The CHAP recommended prohibiting the use of DHEXP in children's
toys and child care articles. CHAP report at pp. 114-116. DHEXP is
associated with adverse effects on male reproductive development and
may contribute to the cumulative risk from antiandrogenic phthalates.
The Commission agrees with the CHAP's recommendation for DHEXP. Based
on the CHAP report and previous review by CPSC staff and a
contractor,\84\ the Commission concludes that there is sufficient
evidence that DHEXP is antiandrogenic and contributes to the cumulative
risk. The
[[Page 49970]]
CHAP report noted a 1980 study by Foster et al. that found severe
testicular atrophy in rats, among other effects. Id. at p. 114. The
Commission also concludes that, by applying the CPSC chronic hazard
guidelines, this phthalate may be considered ``probably toxic'' to
humans based on sufficient evidence in animal studies. The CHAP found
that up to five percent of infants and up to 10 percent of pregnant
women exceed the negligible risk level (HI greater than one). Using the
most recent biomonitoring data, some WORA in the sample have an HI that
exceeds one. Allowing the use of DHEXP in children's toys and child
care articles would further increase the cumulative risk. As discussed
previously, the Commission considers that a HI less than or equal to
one is necessary ``to protect the health of children.'' Although CPSC
staff has not detected DHEXP in toys and child care articles during
routine compliance testing thus far, prohibiting children's toys and
child care articles containing DHEXP would prevent its use in these
products as a substitute for other banned phthalates. Therefore, the
rule prohibits children's toys and child care articles containing
concentrations of more than 0.1 percent of DHEXP. The Commission
concludes that this action is necessary to protect the health of
children because it would prevent future use of this antiandrogenic
phthalate in toys and child care articles.
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\84\ Patton (2010).
---------------------------------------------------------------------------
d. Dicyclohexyl Phthalate (DCHP)
The CHAP recommended prohibiting the use of DCHP in children's toys
and child care articles. CHAP report at pp. 116-118. DCHP is associated
with adverse effects on male development and contributes to the
cumulative risk from antiandrogenic phthalates.
The Commission agrees with the CHAP's recommendation for DCHP.
Based on the CHAP report and previous reviews by CPSC staff and a
contractor,\85\ the Commission concludes that there is sufficient
evidence that DCHP is antiandrogenic and contributes to the cumulative
risk. For example, the CHAP noted two studies that found such effects
as reduced AGD and nipple retention in rats exposed to DCHP. Id. at p.
116. The Commission also concludes that, by applying the CPSC chronic
hazard guidelines, this phthalate is considered ``probably toxic'' to
humans based on sufficient evidence in animal studies. 57 FR 46626
(Oct. 9, 1992). The CHAP found that up to five percent of infants and
up to 10 percent of pregnant women exceed the negligible risk level (HI
greater than one). Using the most recent biomonitoring data, some WORA
in the sample have an HI that exceeds one. Allowing the use of DCHP in
children's toys and child care articles would further increase the
cumulative risk. As discussed previously, the Commission considers that
a HI less than or equal to one is necessary ``to protect the health of
children.'' Although the CPSC staff has not detected DCHP in toys and
child care articles during routine compliance testing thus far,
prohibiting the use of DCHP would prevent its use as a substitute for
other banned phthalates. Therefore, the rule prohibits children's toys
and child care articles containing concentrations of more than 0.1
percent of DCHP. The Commission concludes that this action is necessary
to protect the health of children because it would prevent future use
of this antiandrogenic phthalate in toys and child care articles.
---------------------------------------------------------------------------
\85\ Versar/SRC (2010b).
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e. Comments Concerning Phthalates Subject to the Rule But Not Currently
Prohibited Under the CPSIA
Comment: Regulating DIBP, DPENP, DHEXP, DCHP. One commenter stated
that DIBP, DPENP, DHEXP and DCHP are not widely used in children's toys
and child care articles and are not prohibited in the European Union.
The commenter stated that the proposed rule ``inevitably will extend
inspection range, add cost to manufacturers and exporters and result in
an unnecessary trade barrier.'' (Comment 5.7).
Response: CPSC agrees that DIBP, DPENP, DHEXP and DCHP are not
widely used in children's toys and child care articles. However, as
explained above, studies demonstrate that these four phthalates all
cause MRDE and they are as, or more, potent than DEHP. Regarding the
commenter's assertion that the prohibition of children's toys and child
care articles containing these four phthalates would add costs and
result in a trade barrier, because these phthalates are not widely used
in children's toys and child care articles, the cost to manufacturers
to reformulate the few products that might contain these phthalates
should be small. Moreover, third party testing is already required for
children's toys and child care articles containing prohibited
phthalates and the incremental cost of adding the additional phthalates
to the analysis is expected to be very small. Staff estimates that the
additional materials needed would cost $0.35 per test or about 0.1
percent of a typical $300 phthalates test for a component part or
material. The data analysis procedure would need to be modified to
include the new phthalates, but staff does not expect this would
additional burdens to qualified laboratories.
f. Children's Products
The scope of this rule covers children's toys and child care
articles. The CPSIA authorizes the Commission to ``declare any
children's product containing any phthalates to be a banned hazardous
product'' if such action is necessary to protect the health of
children. 15 U.S.C. 2057c(b)(3)(B). As explained in the NPR, the
Commission is not expanding the rule to cover other children's
products. 79 FR 78337-78338. Only limited data on exposure to
phthalates from other children's products exist. The general
information available does not support a determination that prohibiting
any products other than children's toys and child care articles is
necessary. Toys are more likely than many other children's products to
be made of materials that could be plasticized with phthalates. Toys
and child care articles are more likely than other children's products
to provide a pathway of exposure to phthalates both through oral
exposure (from direct contact with the mouth and indirect contact when
children place their hands in their mouths) and dermal exposure. We
received few comments in response to the NPR that addressed expansion
of the scope of the regulation to all children's products.
Comment: Expanding the scope to all children's products. One
commenter expressed disappointment that CPSC is not expanding the scope
of the provisions involving phthalates to include other children's
items such as raincoats, footwear, backpacks, school supplies, and
clothes. The commenter asserted that a lack of data does not mean CPSC
should assume there is no problem. (Comment 6.6).
Response: Staff has not found new information that would change the
basis underlying the Commission's decision not to propose expanding the
scope of the rule to all children's products. There is not enough
information to adequately assess the health impact of children's
products other than children's toys and child care articles. In
contrast to children's products in general, a wealth of information
regarding use exists for children's toys and child care articles from
other agencies, such as EPA, and in scientific publications. The
general information available indicates that exposure from children's
products is comparatively less than that from children's toys and
childcare articles.
[[Page 49971]]
g. Other Phthalates Not Included in the Rule
The CHAP examined 14 phthalates: The three subject to the CPSIA's
permanent prohibition, the three subject to the CPSIA's interim
prohibition, and eight additional phthalates. Of the eight additional
phthalates, the CHAP recommended that four be prohibited from use in
children's toys and child care articles, that three (Dimethyl Phthalate
(DMP), Diethyl Phthalate (DEP), Di(2-propylheptyl) Phthalate DPHP) be
free of any restriction, and the one (Diisooctyl Phthalate (DIOP)) be
subject to an interim prohibition. CHAP report at pp. 1118-119. As
discussed in the NPR, DIOP has a chemical structure consistent with
other antiandrogenic phthalates. However, the CHAP concluded that there
is not sufficient evidence to support a permanent prohibition. 79 FR
78337. The CPSIA did not provide for an interim prohibition as an
option for the Commission's rule under section 108, and as the CHAP
explained, insufficient data exists to determine that a permanent
prohibition of DIOP is necessary to protect the health of children. We
received a few comments concerning phthalates that the CHAP assessed
but are not covered by CPSC's rule.
Comment: DIOP. Some commenters suggested that the CPSC permanently
prohibit children's toys and child care articles containing DIOP. They
stated that the CHAP had noted DIOP's structural similarity to
antiandrogenic phthalates and they concluded that CPSC should not
assume that it would meet the CPSIA criteria when hazard and exposure
data are lacking. (Comment 5.10).
Response: Although the CHAP recognized that the structure of DIOP
suggests that it may be associated with antiandrogenic effects, no
experimental data exist that would support a conclusion that DIOP
causes MRDE. Additionally, potency and exposure data are lacking. Thus,
there is no basis for regulatory action on DIOP at this time.
Comment: Prohibitions involving other phthalates. Some commenters
asserted that ``The CHAP's lack of recommendations for additional
regulatory action on phthalates like DIOP, DMP, DEP, DPHP or many of
the alternatives evaluated is not an endorsement of their safety''
because of the lack of sufficient hazard and exposure data on these
chemicals. The commenters suggested that CPSC continue to review and
monitor these phthalates and to recommend that other federal agencies
take appropriate actions. (Comment 10.4).
Response: CPSC staff participates in several interagency
collaborations to discuss issues of mutual interest, including
phthalates. CPSC will continue these cooperative activities.
E. The Concentration Limit
For both the permanent and interim prohibitions, the CPSIA
established a concentration limit of 0.1 percent. The CHAP stated:
When used as plasticizers for polyvinyl chloride (PVC),
phthalates are typically used at levels greater than 10%. Thus, the
0.1% limit prohibits the intentional use of phthalates as
plasticizers in children's toys and child care articles but allows
trace amounts of phthalates that might be present unintentionally.
There is no compelling reason to apply a different limit to other
phthalates that might be added to the current list of phthalates
permanently prohibited from use in children's toys and child care
articles.
CHAP report at p. 79. As discussed in the NPR, this concentration limit
is not based on risk, and the Commission found no risk-based
justification to change the limit from the 0.1 percent specified in the
CPSIA. Thus, the Commission proposed to maintain this concentration
limit. 79 FR 78338. We did not receive any comments concerning the
concentration limit. The final rule retains the 0.1 percent
concentration limit.
F. International and Other Countries' Requirements for Children's Toys
and Child Care Articles Containing Phthalates
1. Summary of Requirements
Other countries have restrictions concerning the use of various
phthalates in children's toys and child care articles. The requirements
vary, but the following countries have some regulatory restrictions on
phthalates that can be used in children's toys and child care articles:
The European Union (EU), Denmark, Canada, Japan, Australia, Brazil,
Argentina, Taiwan, and Hong Kong. The requirements differ on the
phthalates restricted and products covered. Unlike CPSC's rule, these
restrictions are based on evaluations of phthalate exposures in
isolation, not in combination with other phthalates. There is no
international standard that establishes substantive requirements for
phthalates in children's toys and child care articles. International
Organization for Standardization (ISO) 8124-6:2014 specifies a method
for testing toys and children's products to determine if they contain
phthalates; it does not establish any content limits. We provide a
summary of other countries' requirements concerning phthalates in
children's toys and child care articles:
DINP:
Denmark: Prohibits all phthalates at concentrations above
0.05 percent in toys and child care articles intended for children
under 3 years old.
EU: Limits the use of DINP (as well as DIDP and DNOP)
individually or as mixtures in toys and child care articles which can
be placed in the mouth by children to no greater than 0.1 percent by
weight of the plasticized material.
Canada: Limits use in the vinyl in any part of a toy or
child care article that can be placed in the mouth of a child under
four years of age to no greater than 0.1 percent of DINP, DIDP or DNOP.
Japan: For toys that are intended to come in contact with
the mouth (excluding pacifiers and teething rings), parts made from
plasticized materials that are intended to come in contact with the
mouth must not contain more than 0.1 percent DINP (or DIDP or DNOP);
PVC parts not intended to come in contact with mouth must not use DINP
as a raw material.
Brazil: Limits use of DINP in plastic materials in all
kinds of toys for children under three to no greater than 0.1 percent.
Argentina: Limits use of DINP in toys and child care
articles made of plastic material that can be placed in the mouth to no
greater than 0.1 percent.
Taiwan: Limits DINP use in toys and child care articles to
no greater than 0.1 percent individually or in combination with DEHP,
DBP, BBP, DIDP, or DNOP.
Hong Kong: Limits the combination of DINP, DIDP and DNOP
to no greater than 0.1 percent of the total weight of the plasticized
materials in toys or children's products any part of which can be
placed in the mouth of a child under four years of age.
Australia: Considered but rejected limiting DINP in
children's toys and child care articles.
Other Phthalates Covered by CPSC's Rule (DIBP, DPENP, DHEXP, DCHP)
Denmark: In 2009 instituted a national prohibition on all
phthalates at concentrations above 0.05 percent in toys and child care
articles intended for children under 3 years old. This covers all four
phthalates: DIBP, DPENP, DHEXP, DCHP.
No restrictions concerning DIBP, DPENP, DHEXP, DCHP in
children's toys and child care articles in other countries.
As this summary demonstrates, requirements concerning DINP in
[[Page 49972]]
children's toys and child care articles vary across different
countries. However, even if the precise requirements differ, numerous
countries have some limitation on the use of DINP in children's toys
and child care articles, and one other country restricts the use of
DIBP, DPENP, DHEXP, and DCHP in children's toys and child care
articles.
2. Comments Concerning Other Countries' and International Requirements
Comment: Differences between CPSC's proposed rule and other
countries' requirements. Some commenters observed that CPSC's NPR
differed from restrictions in other countries. These comments focused
on CPSC's expansion of the interim prohibition regarding DINP to cover
all children's toys. Commenters noted the inconsistency between the
EU's requirements concerning DINP and the CPSC's proposed rule. Two
commenters stated that the CPSC's rule is consistent with the EU. A
commenter expressed concerns that the rule might be a barrier to
international trade under the World Trade Organization (WTO) Agreement
on Technical Barriers to Trade (TBT) due to the differences between
CPSC's rule and other countries' approaches. (Comment 5.6).
Response: As discussed above, CPSC's rule concerning DINP differs
from other countries' restrictions. However, there is variation among
these countries; no uniform consensus on regulation of DINP in
children's toys and child care articles exists. Regarding the TBT, we
note that there is no international standard establishing restrictions
on phthalates in toys. ISO 8124-6:2014 only specifies a test method to
determine if toys and children's products contain phthalates. Rather,
countries have established their own technical regulations. The TBT
states that technical regulations shall not be more trade-restrictive
than necessary to fulfill a legitimate objective. CPSC's rule would not
be a barrier to trade because it will apply equally to both domestic
manufacturers and importers. We also note that the TBT recognizes that
protection of human health or safety is a legitimate objective.
G. Description of the Final Rule
The text of the final rule is the same as the proposed rule with
one exception. For clarity, we have added language from section 108(c)
of the CPSIA (as amended by Pub. L. 112-28) regarding the application
of the rule. This addition does not change the substance of the rule
because the statutory provision applies regardless of whether it is
stated in the rule. Section 108(c) of the CPSIA states that the
permanent and interim phthalate prohibitions, and any phthalates rule
the Commission issues under section 108(b)(3) of the CPSIA, ``shall
apply to any plasticized component part of a children's toy or child
care article or any other component part of a children's toy or child
care article that is made of other materials that may contain
phthalates.'' 15 U.S.C. 2057c(c).
The Commission received comments on various aspects of the
substance of the proposed rule. These comments and responses to them
are summarized throughout this document. More detailed comment
summaries and responses are at Tab B of staff's briefing package.
Section 1307.1--Scope and Application
Section 1307.1 describes the actions that the rule prohibits. This
provision tracks the language in section 108(a) of the CPSIA regarding
the permanent prohibition and prohibits the same activities:
Manufacture for sale, offer for sale, distribution in commerce, or
importation into the United States of a children's toy or child care
article that contains any of the prohibited phthalates.
Section 1307.2--Definitions
Section 1307.2 provides the same definitions of ``children's toy''
and ``child care article'' found in section 108(g) of the CPSIA.
``Children's toy'' means a consumer product designed or intended by the
manufacturer for a child 12 years of age or younger for use by the
child when the child plays. ``Child care article'' means a consumer
product designed or intended by the manufacturer to facilitate sleep or
the feeding of children age 3 and younger, or to help such children
with sucking or teething. Although these definitions are stated in the
CPSIA, the rule text restates them for convenience. We did not receive
comments on these definitions, which re-state statutory definitions.
Section 1307.3--Prohibition on Children's Toys and Child Care Articles
Containing Specified Phthalates
Section 1307.3(a) states the products the rule prohibits. For
convenience, this section provides both the items that are subject to
the CPSIA's existing permanent prohibition and the items that are
subject to prohibition under the rule. Stating all prohibitions in this
section will allow a reader of the CFR to be aware of all the CPSC's
restrictions concerning phthalates, both statutory and regulatory.
Paragraph (a) sets out the CPSIA's existing permanent prohibition
which makes it unlawful to manufacture for sale, offer for sale,
distribute in commerce, or import into the United States any children's
toy or child care article that contains concentrations of more than 0.1
percent of DEHP, DBP, or BBP. The restriction on these products was
established by section 108(a) of the CPSIA. This statutory prohibition
is not affected by the rule, but is merely restated in the regulatory
text.
Paragraph (b) prohibits the manufacture for sale, offer for sale,
distribution in commerce, or importation into the United States of any
children's toy or child care article that contains concentrations of
more than 0.1 percent of DINP, DIBP, DPENP, DHEXP, and DCHP. As
explained above, in accordance with section 108(b)(2) of the CPSIA, the
Commission appointed a CHAP that considered the effects on children's
health of phthalates and phthalate alternatives as used in children's
toys and child care articles and presented the Commission with a report
of its findings and recommendations. After reviewing the CHAP's report,
the most recent exposure data, and public comments, the Commission is
finalizing this rule in accordance with section 108(b)(3) of the CPSIA.
For the reasons explained in this preamble, the Commission
concludes that prohibiting children's toys and child care articles that
contain concentrations of more than 0.1 percent of DINP would ensure a
reasonable certainty of no harm to children, pregnant women, or other
susceptible individuals with an adequate margin of safety. DINP is
currently subject to the CPSIA's interim prohibition. 15 U.S.C.
2057c(b)(1). Section 1307.3(b) changes the scope of regulation of DINP
from the current interim scope of ``any children's toy that can be
placed in a child's mouth'' \86\ (and child care articles) to include
all children's toys. Based on the recommendations in the CHAP report,
the Commission is not continuing the interim prohibitions on DIDP and
DNOP.
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\86\ Section 108(g)(2)(B) of the CPSIA states that ``a toy can
be placed in a child's mouth if any part of the toy can actually be
brought to the mouth and kept in the mouth by a child so that it can
be sucked and chewed. If the children's product can only be licked,
it is not regarded as able to be placed in the mouth. If a toy or
part of a toy in one dimension is smaller than 5 centimeters, it can
be placed in the mouth.''
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Additionally, Sec. 1307.3(b) prohibits children's toys and child
care articles
[[Page 49973]]
containing four phthalates that are not currently subject to
restrictions under the CPSIA: DIBP, DPENP, DEXP, and DCHP. For the
reasons explained previously, the Commission concludes that prohibiting
children's toys and child care articles containing concentrations of
more than 0.1 percent of DIBP, DPENP, DEXP, or DCHP is necessary to
protect the health of children.
The final rule adds paragraph (c) to Sec. 1307.3 to clarify the
application of the rule. Section 108(c), as amended by Public Law 112-
28 (August 12, 2011), addresses the application of the Commission's
phthalates rule. For convenience and clarity, we are restating that
statutory provision in Sec. 1307.3 (c).
H. Effective Date
The APA generally requires that the effective date of a rule be at
least 30 days after publication of the final rule. 5 U.S.C. 553(d). The
Commission proposed an effective date of 180 days after publication of
the final rule in the Federal Register. The final rule provides a 180-
day effective date. As discussed in the NPR and in section V. of this
preamble, the Commission expects that this rule will have a minimal
impact on manufacturers, and that changes to testing procedures to
include children's toys and child care articles containing the four
additional prohibited phthalates would require minimal effort by
testing laboratories. 79 FR 78339. In accordance with the CPSIA,
restrictions on the use of certain phthalates in children's toys and
child care articles are currently in effect. This rule does not affect
the permanent prohibition on children's toys and child care articles
containing more than 0.1 percent of DEHP, BBP, and DBP. The CPSIA's
interim prohibition currently applies to children's toys that can be
placed in a child's mouth and child care articles containing DINP.
Thus, with regard to DINP, the impact from the rule would be only on
children's toys that cannot be placed in a child's mouth. CPSC expects
that a relatively small percentage of children's toys that cannot be
placed in a child's mouth would need to be reformulated to remove DINP.
Because the four additional phthalates (DIBP, DPENP, DHEXP, and DCHP)
are not widely used in children's toys and child care articles, few
manufacturers will need to reformulate products to comply with this
aspect of the rule. Regarding third party testing, testing laboratories
are already testing children's toys and child care articles for the
permanently prohibited phthalates and are testing children's toys that
can be placed in a child's mouth and child care articles for DINP.
Testing laboratories can expand their procedures to include the four
additional phthalates with minimal effort. CPSC received a few
comments, summarized below, concerning the effective date.
Comment: Effective date. Two commenters stated that the Commission
should set an effective date of at least 1 year from finalizing the
rule. They asserted that DIDP and DINP are difficult to differentiate
through testing, and that if the interim prohibition concerning DIDP
was lifted while DINP continues to be restricted, laboratories would
need additional time to address the technical testing difficulties.
Another commenter urged the Commission to shorten the proposed 180-day
effective date based on the minimal impact CPSC anticipates to ``ensure
that there is no gap in the protections from DINP.'' Another commenter
asked for clarification that the rule would not be retroactive (back to
2011). (Comment 5.11).
Response: CPSC acknowledges that differentiating DINP and DIDP may
be difficult. However, laboratories can differentiate DINP and DIDP
using currently available equipment and methods. Manufacturers can
maintain current formulations while they address any perceived
challenges differentiating DINP and DIDP. As explained above, CPSC
expects that the rule will require minimal changes for manufacturers
and testing laboratories. Therefore 180 days from publication in the
Federal Register should be sufficient time for the rule to take effect.
We see no need to shorten the effective date. The interim prohibition
established by section 108(b)(1) remains in effect until this rule
becomes effective. We confirm that the rule is prospective and will
apply to products manufactured and imported on or after the effective
date. As mentioned, however, the interim prohibition remains in place
until the final rule takes effect.
V. Regulatory Flexibility Act
A. Certification
The Regulatory Flexibility Act (RFA) requires an agency to prepare
a regulatory flexibility analysis for any rule subject to notice and
comment rulemaking requirements under the Administrative Procedure Act
or any other statute unless the agency certifies that the rulemaking
will not have a significant economic impact on a substantial number of
small entities. 5 U.S.C. 603 and 605. Small entities include small
businesses, small organizations, and small governmental jurisdictions.
The Commission certified in the NPR that this rule will not have a
significant impact on a substantial number of small entities pursuant
to section 605(b) of the RFA, 5 U.S.C. 605(b) in the NPR. 79 FR 78324,
78339-41. Some comments expressed general concerns about the economic
impact of the proposed rule, but none provided information or evidence
that the rule would have a significant impact on a substantial number
of small entities. Summaries of these comments and CPSC's responses are
provided below. More detailed summaries and responses are in Tab B of
the staff's briefing package. None of the comments received by the
Commission changes the basis for the certification, nor has Commission
staff received any other information that would require a change or
revision the Commission's previous analysis of the impact of the rule
on small entities. Therefore, the certification of no significant
impact on a substantial number of small entities is still appropriate.
As explained in greater detail in the NPR, the certification is
based on CPSC's determination that:
(1) Few, if any, manufacturers would need to alter their
formulations to comply with the rule because:
Children's toys that can be placed in a child's mouth and
child care articles containing DINP have been prohibited since 2009.
Thus, no manufacturer would have to reformulate any products in these
categories.
Only children's toys that cannot be placed in a child's
mouth (no dimension of the toy is less than 5 cm) containing DINP would
have to be reformulated. Thus, only a small subset of children's toys
that cannot be placed in a child's mouth would be affected by the rule.
DIBP, DPENP, DHEXP, and DCHP are not widely used in
children's toys and child care articles. Therefore, relatively few
manufacturers would have to reformulate products to eliminate these
phthalates due to the rule.
(2) The rule would have a small marginal impact on the cost of
third party testing because:
All children's toys and child care articles are already
subject to third party testing for DEHP, DBP, and BBP.
Currently, children's toys that can be placed in a child's
mouth and child care articles must also be tested for the presence of
DINP.
Laboratory equipment and methods are already in place for
testing the prohibited phthalates, therefore the additional cost of
testing for DIBP,
[[Page 49974]]
DPENP, DHEXP, and DCHP would be very low.
Identification and quantification protocols for prohibited
phthalates would need minimal modification to include DIBP, DPENP,
DHEXP, and DCHP because each of these phthalates can be isolated at
unique elution times by gas chromatography. Thus, the additional cost
of analysis would be very low.
The additional cost of laboratory materials would be very
low. Chemical standards for testing would be required for the four
additional phthalates, but the standards for DNOP and DIDP would no
longer be required. Therefore, the number of chemical standards needed
would increase by two which CPSC expects would increase the cost of
third party testing for phthalates by less than 35 cents per test,
which is relatively small compared to current cost of phthalate testing
(approximately $300 per product or component part).
B. Comments Concerning Impact on Small Business
Comment: Testing costs. Two commenters agreed with CPSC that the
rule will have a small impact on testing costs. One commenter asked for
CPSC to clarify how testing of technical mixtures of DINP and DIDP
would be performed, noting that when DINP is detected in a sample,
additional analytical steps are needed (at additional cost) to
determine if the DINP is present as a `pure' chemical or if the DINP is
part of a technical mixture. Some commenters asked the Commission to
take action to reduce testing costs. (Comment 9.1).
Response: For the reasons explained above, CPSC expects that the
additional burden associated with the rule is small, with no
significant impact on a substantial number of small entities. Regarding
testing of mixtures of DINP and DIDP, the restriction on DINP applies
whether DINP is in the product intentionally or unintentionally. Thus,
laboratories will not need to undertake any additional effort to
determine the source of DINP found in a children's toy or child care
article. Regarding steps to reduce testing burdens, the Commission has
recently issued determinations that will lower testing costs for some
children's toys and child care article manufacturers. 82 FR 41163
(August 30, 2017). The determinations rule went into effect on
September 29, 2017.
Comment: Costs and benefits of NPR. Regarding the NPR's
determination that the proposed rule's economic impact would be
minimal, one commenter stated CPSC had not considered the effect on
consumers or the possibility that smaller manufacturers would be
burdened by the rule in the future, ``which offers no demonstrated
public health benefits in exchange for even `minimal' costs.'' The
commenter asserted that the rule would take a ``safe and useful
chemical'' away from consumers. (Comment 9.4).
Response: Because CPSC followed the rulemaking requirements stated
in section 108 of the CPSIA, which differ from rulemaking requirements
under the CPSA and the FHSA, CPSC did not prepare a regulatory analysis
of the costs and benefits of the rule. However, as discussed above,
CPSC did conduct an analysis of the impact of the proposed rule on
small entities. The commenter did not explain how future small
manufacturers would be burdened. For the reasons explained above and in
the NPR, CPSC expects the costs for small businesses subject to this
rule would be small.
VI. Notice of Requirements
The CPSA establishes certain requirements for product certification
and testing. Children's products subject to a children's product safety
rule under the CPSA must be certified as complying with all applicable
CPSC-enforced requirements. 15 U.S.C. 2063(a). Certification of
children's products subject to a children's product safety rule must be
based on testing conducted by a CPSC-accepted third party conformity
assessment body. Id. 2063(a)(2). The Commission must publish a notice
of requirements (NOR) for the accreditation of third party conformity
assessment bodies (or laboratories) to assess conformity with a
children's product safety rule to which a children's product is
subject. Id. 2063(a)(3). The final rule for 16 CFR part 1307,
``Prohibition of Children's Toys and Child Care Articles Containing
Specified Phthalates,'' is a children's product safety rule that
requires the issuance of an NOR. The Commission previously published in
the Federal Register an NOR for the phthalate-containing products
prohibited by the permanent and interim prohibitions state in section
108 on August 10, 2011. (76 FR 49286). The codified listing for the NOR
can be found at 16 CFR 1112.15(b)(31). In this same issue of the
Federal Register the Commission is publishing a notice of proposed
rulemaking that would update the existing NOR for the phthalate-
containing products prohibited by this final rule.
VII. Paperwork Reduction Act
The final rule does not include any information collection
requirements. Accordingly, this rule is not subject to the Paperwork
Reduction Act, 44 U.S.C. 3501-3520.
VIII. Preemption
Section 26(a) of the CPSA, 15 U.S.C. 2075(a), provides that where a
``consumer product safety standard under [the Consumer Product Safety
Act (CPSA)]'' is in effect and applies to a product, no state or
political subdivision of a state may either establish or continue in
effect a requirement dealing with the same risk of injury unless the
state requirement is identical to the federal standard. (Section 26(c)
of the CPSA also provides that states or political subdivisions of
states may apply to the Commission for an exemption from this
preemption under certain circumstances.) Section 108(f) of the CPSIA is
entitled ``Treatment as Consumer Product Safety Standards; Effect on
State Laws.'' That provision states that the permanent and interim
prohibitions and any rule promulgated under section 108(b)(3) ``shall
be considered consumer product safety standards under the Consumer
Product Safety Act.'' That section further states: ``Nothing in this
section of the Consumer Product Safety Act (15 U.S.C. 2051 et seq.)
shall be construed to preempt or otherwise affect any State requirement
with respect to any phthalate alternative not specifically regulated in
a consumer product safety standard under the Consumer Product Safety
Act.'' 15 U.S.C. 2057c(f). This provision indicates that the preemptive
effect of section 26(a) of the CPSA will apply to the final rule.
IX. Environmental Considerations
The Commission's regulations provide a categorical exclusion for
the Commission's rules from any requirement to prepare an environmental
assessment or an environmental impact statement because they ``have
little or no potential for affecting the human environment.'' 16 CFR
1021.5(c)(2). Because this rule falls within the categorical exclusion,
no environmental assessment or environmental impact statement is
required.
X. List of References
This section provides a list of the documents referenced in this
preamble and in the staff's briefing package.
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Christiansen S, Boberg J, Axelstad M, et al. (2010) Low-dose
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Christiansen S, Scholze M, Dalgaard M, et al. (2009) Synergistic
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[[Page 49976]]
male sex organ development by a mixture of four antiandrogens.
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Clark K (2009) Phthalate ester concentration database. Prepared for
the Phthalate Esters Panel, American Chemistry Council, Washington,
DC. Transmitted by Steve Risotto, ACC May 28, 2010. https://www.cpsc.gov/s3fs-public/Risotto%20052810.pdf. (Data base files are
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List of Subjects in 16 CFR Part 1307
Consumer protection, Imports, Infants and children, Law
enforcement, Toys.
0
For the reasons discussed in the preamble, the Commission amends title
16 of the Code of Federal Regulations by adding part 1307 to read as
follows:
PART 1307--PROHIBITION OF CHILDREN'S TOYS AND CHILD CARE ARTICLES
CONTAINING SPECIFIED PHTHALATES
Sec.
1307.1 Scope and application.
1307.2 Definitions.
1307.3 Prohibition on children's toys and child care articles
containing specified phthalates.
Authority: Sec. 108, Pub. L. 110-314, 122 Stat. 3016 (August 14,
2008); Pub. L. 112-28, 125 Stat. 273 (August 12, 2011).
Sec. 1307.1 Scope and application.
This part prohibits the manufacture for sale, offer for sale,
distribution in commerce or importation into the United States of any
children's toy or child care article containing any of the phthalates
specified in Sec. 1307.3.
Sec. 1307.2 Definitions.
The definitions of the Consumer Product Safety Act (CPSA) (15
U.S.C. 2052(a)) and the Consumer Product Safety Improvement Act of 2008
(CPSIA) (Pub. L. 110-314, sec. 108(g)) apply to this part.
Specifically, as defined in the CPSIA:
(a) Children's toy means a consumer product designed or intended by
the manufacturer for a child 12 years of age or younger for use by the
child when the child plays.
(b) Child care article means a consumer product designed or
intended by the manufacturer to facilitate sleep or the feeding of
children age 3 and younger, or to help such children with sucking or
teething.
Sec. 1307.3 Prohibition of children's toys and child care articles
containing specified phthalates.
(a) As provided in section 108(a) of the CPSIA, the manufacture for
sale, offer for sale, distribution in commerce, or importation into the
United States of any children's toy or child care article that contains
concentrations of more than 0.1 percent of di-(2-ethyhexyl) phthalate
(DEHP), dibutyl phthalate (DBP), or benzyl butyl phthalate (BBP) is
prohibited.
(b) In accordance with section 108(b)(3) of the CPSIA, the
manufacture for sale, offer for sale, distribution in commerce, or
importation into the United States of any children's toy or child care
article that contains concentrations of more than 0.1 percent of
diisononyl phthalate (DINP), diisobutyl phthalate (DIBP), di-n-pentyl
phthalate (DPENP), di-n-hexyl phthalate (DHEXP), and dicyclohexly
phthalate (DCHP) is prohibited.
(c) In accordance with section 108(c) of the CPSIA, the
restrictions stated in paragraphs (a) and (b) of this section apply to
any plasticized component part of a children's toy or child care
article or any other component part of a children's toy or child care
article that is made of other materials that may contain phthalates.
Alberta E. Mills,
Acting Secretary, U.S. Consumer Product Safety Commission.
[FR Doc. 2017-23267 Filed 10-26-17; 8:45 am]
BILLING CODE 6355-01-P