| Literature DB >> 35707496 |
Maricel V Maffini1, Laura N Vandenberg2.
Abstract
It has been 25 years since the U.S. Congress passed the Food Quality Protection Act of 1996, an amendment to the Food Drug and Cosmetic Act, which mandated that the US Environmental Protection Agency (EPA) test all pesticide chemicals used in food for endocrine disruption. Soon after the law passed, EPA established the Endocrine Disruptor Screening and Testing Advisory Committee (EDSTAC) to provide recommendations to the agency on how its Endocrine Disruptor Screening Program (EDSP) should work. Among them, the committee recommended that EDSP screening should 1) evaluate both human and ecological effects; 2) test for disruption of the estrogen, androgen, and thyroid systems; 3) evaluate pesticide and non-pesticide chemicals; and 4) implement a tiered approach. EPA adopted the recommendations and the EDSP was created in 1998. To date, the EPA has yet to fully implement the law; in other words, it has failed to test all pesticide chemicals for endocrine disruption. Of the small number that have been tested, not a single pesticide chemical has been determined to be an endocrine disruptor, and no regulatory actions have been taken. Here, we review the missed opportunities EPA had to make the EDSP a functional and effective program aimed at protecting human health and the environment. Two reports by the EPA's Office of Inspector General from 2011 to 2021 provide the framework for our discussion.Entities:
Keywords: Delaney clause; FIFRA; Food Quality Protection Act; cumulative effect; endocrine disrupting chemical; test guideline; validation; xenoestrogen
Year: 2022 PMID: 35707496 PMCID: PMC9189695 DOI: 10.3389/ftox.2022.908439
Source DB: PubMed Journal: Front Toxicol ISSN: 2673-3080
FIGURE 1Overview of the ongoing implementation of the EDSP. (A) A timeline of the events leading up to the development, creation, and review of the EDSP (green arrows), the promised or proposed timeline for completion of specific tasks (orange arrows), and the achievement of specific tasks (blue arrows). The code for these events is as follows: Events: 1—FDCA passes (1938); 2—FIFRA passes (1947); 3—Safe Drinking Water Act passes (1974); 4—FQPA passes, EDSTAC committee is assembled (1996); 5—EDSTAC final report is published (1998); 6—Lawsuit filed by Natural Resources Defense Council is settled (2001); 7) IG’s first report is published (2011); 8) IG’s second report is published (2021). Promises: A—to publish initial list of chemicals to evaluate (2002); B—to validate all Tier one assays except frog metamorphosis, begin testing (2003); C—validate the mammalian 2-generation test and start Tier two testing (2004); D—validate all other Tier two tests (2005); E—publish a second list of chemicals to evaluate (2010); F—evaluate Tier one data on 67 chemicals from first list (2011). Achievements: #—EPA releases draft list of chemicals to evaluate (2007); $—EPA completes validation of Tier one assays and has them peer-reviewed (2008); %—EPA releases guidelines for Tier one assays and publishes final list of chemicals (2009); &—EPA produces a second list of chemicals for evaluation (2010); @—EPA validates non-mammalian Tier two tests (2011); ψ—EPA finalizes Tier two tests, evaluates Tier one data for 52 chemicals from the first list (2015). (B) Tier one assays include in vitro and in vivo screens. (C) Tier two tests utilize numerous species.
Synthesis of the EPA’s Inspector General 2011 and 2021 recommendations to improve the implementation of EDSP.
| 2011 IG recommendations | EPA Response to Recommendations | Timeline for Completion |
|---|---|---|
| 1- Define and identify the universe of chemicals for screening and testing to establish the scope of the program | The Agency believes that the scope of the current EDSP is clearly defined by the law. We have already identified the universe of chemicals for screening: all pesticide chemicals and drinking water contaminants | September 2011: Work plan |
| EPA intends to use a science-based prioritization process to identify additional chemicals for EDSP screening. EPA will develop a work plan focused on integrating computational toxicology to EDSP to prioritize additional chemicals | June 2012: Management plan | |
| 2- Develop and publish a standardized methodology for objectively prioritizing the universe of chemicals for screening and testing, including elements recommended by the federal advisory committees such as use of effects and exposure data | Given the ongoing, scientific research in this area, flexibility will be a key feature of any prioritization methodology so that future developments and alternative approaches can be incorporated as appropriate | September 2011: Work plan |
| We anticipate that an initial prioritized list of chemicals could be developed in the near-term using tools such as ToxCast and Quantitative Structure Activity Relationship (QSAR) models in combination with other data | June 2012: Management plan | |
| 3- Finalize specific criteria for evaluating the Tier 1 screening data received and establish specific criteria for evaluating the Tier 2/hazard assessment testing data received | The Agency is currently evaluating public comments on the draft criteria for evaluating Tier 1 screening data | September 2011: Finalize criteria |
| Agency and the broader scientific community have a long history of conducting hazard and risk assessments of the type envisioned in Tier 2 of the EDSP. However, the Agency plans to develop Standard Evaluation Procedures (SEPs) specific to the individual Tier 2 tests. The Agency cannot develop these SEPs until validation of the Tier 2 tests is completed | December 2012: Completing SEP for each Tier 2 tests | |
| 4- Develop short-term, intermediate, and long-term outcome performance measures, and additional output performance measures, with appropriate targets and timeframes, to measure the progress and results of the program | Short-term outcomes could consist of making weight-of-evidence determinations to decide whether a chemical will move on to EDSP Tier 2 testing | June 2012: Release comprehensive management plan including these measures |
| Intermediate outcomes could consist of the hazard assessments that will result from Tier 2 | ||
| Long-term outcomes could include a characterization of the regulatory actions that result from EDSP screening and testing, the impact of such actions on human health and the environment and other metrics | ||
| 5- Develop and publish a comprehensive management plan for EDSP, including estimates of EDSP’s budget requirements, priorities, goals, and key activities covering at least a 5-year period | The management plan will cover at least 5 years into the future of the EDSP and will include the continued issuance of test orders, the development of a consolidated information infrastructure for the EDSP, and other aspects of the program | June 2012 |
| It will address budget requirements for the EDSP and performance management, including performance measures and annual reviews | ||
| 6- Annually review the EDSP program results, progress toward milestones, and achievement of performance measures, including explanations for any missed milestones or targets | The Agency reports annually on the EDSP’s performance measures. This reporting includes progress toward annual targets with explanations for any that are missed or exceeded | June 2012 |
| The Agency will continue this review process and will consider additional options for annual program reviews as we develop the comprehensive management plan for the EDSP. | ||
| 1- Issue Tier 1 test orders for each List 2 chemical or publish an explanation for public comment on why Tier 1 data are no longer needed to characterize a List 2 chemical’s endocrine-disruption activity |
| 30 September 2024 for Action 1a |
|
| 30 September 2025 for Action 1b | |
| 2- Determine whether the EPA should incorporate the Endocrine Disruptor Screening Program Tier 1 tests (or approved new approach methodologies) into the pesticide registration process as mandatory data requirements under 40 C.F.R. § 158 for all pesticide use patterns |
| 30 September 2024 |
| 3- Issue List 1–Tier 2 test orders for the 18 pesticides in which additional Tier 2 testing was recommended or publish an explanation for public comment on why Tier 2 data are no longer needed to characterize the endocrine-disruption activity for each of these 18 pesticides |
| 31 December 2023 for Corrective Action 3a |
|
| 30 September 2024 for Corrective Action 3b | |
| 4- Issue for public review and comment both the Environmental Fate and Effects Division’s approach for the reevaluation of List 1–Tier 1 data and the revised List 1–Tier 2 wildlife recommendations |
| 31 December 2023 for completing and posting for public comment together with Proposed Corrective Action 3a |
| 5- Develop and implement an updated formal strategic planning document, such as the Comprehensive Management Plan |
| 30 September 2022 |
| 6- Develop performance measures, with reasonable time frames, to document progress toward and achievement of milestones or targets. Specifically, the Endocrine Disruptor Screening Program should consider at least one performance measure that tracks progress in testing pesticides for human endocrine disruptor activity |
| Short-term performance measures under Proposed Corrective Action 6a will be developed by and tracked beginning 1 October 2022 |
|
| Long-term performance measures under Proposed Corrective Action 6b including at least one that tracks progress in the evaluation and testing of pesticides for human endocrine disruptor activity will be developed and tracked by 1 October 2024 | |
| 7- Conduct annual internal program reviews of the Endocrine Disruptor Screening Program |
| 30 September 2022 |
| 8- Complete and publish the Endocrine Disruptor Screening Program’s response(s) to 2015 Federal Register notice comments and its related white paper |
| December 2021 |
| 9- Establish a procedure for Endocrine Disruptor Screening Program communications and coordination with relevant Agency program offices with testing responsibilities |
| 30 September 2021 |
| 10- To increase external communication and transparency, update the Endocrine Disruptor Screening Program website, including the program timeline, and publish any relevant program documents |
| Corrections to the EDSP website, including hyperlinks to documents and other webpages, have already begun. The NAM White Paper and associated documents will be published on the Endocrine Disruptor Screening Program website by 30 December 2021 |
| Continuing updates, for example on the OCSPP reorganization, will also be done as needed to increase external communication and transparency |
Shaded rows: Management recommendations. OCSPP: Office Chemical Safety and Pollution Prevention. NAM: New alternative methods. EDSP: endocrine disruption screening program.