PROCEEDINGS OF  PUBLIC HEARINGS
          PLUTONIUM AND  THE OTHER

           TRANSURANIUM  ELEMENTS
                         \
         VOLUME 1
         PROCEEDINGS OF HEARINGS  IN
         WASHINGTON., D,C,
         DECEMBER 10-11, 1974
U.S. ENVIRONMENTAL PROTECTION AGENCY

          Office of Radiation Programs

       Criteria and Standards Division

           Washington, D.C. 20460

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                            FOREWORD
     Production and use of plutonium and the other transuranium
elements is projected to increase rapidly.  Because of the long half-
lives and high radiotoxicity of many nuclides of these elements, public
and technical concern has been expressed regarding the possible environ-
mental and health impact of releases of these elements to the environ-
ment.  For this reason the Environmental Protection Agency has embarked
on a program to evaluate the environmental impact of the transuranium
elements and to consider whether further guidelines or standards are
needed to assure adequate protection of the general ambient environ-
ment and of the public health from potential contamination of the
environment by radionuclides of these elements.

     As a part of this program public hearings were held in
Washington, B.C., and Denver, Colorado, to gather information re-
garding the public and social implications of plutonium utilization;
the factors involved in the balancing of costs vs. benefits; dosi-
metry, health, and environmental effects; environmental levels and
pathways; applications using plutonium; and control and cleanup
technology.

     This Agency believes that the information resulting from these
hearings constitutes a significant contribution to the public aware-
ness and knowledge of this problem and that wide dissemination of
these proceedings will be valuable.
                                         W. D. Rowe, Ph.D.
                                   Deputy Assistant Administrator
                                      for Radiation Programs

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                             PREFACE







     Information was presented both orally and in written form




at the hearings and, in addition, a number of letters were sub-




mitted directly to the Office of Radiation Programs of The U. S.




Environmental Protection Agency for inclusion in the hearing




record.  This information is being published in three volumes:




Volume 1 contains the proceedings of the hearing in Washington, D.C;




Volume 2 the proceedings of the hearing in Denver, Colorado; and




Volume 3 the additional material submitted.  Where Written submittals




are more complete, these are printed in lieu of the oral testimony.

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                           CONTENTS


Opening Remarks, Dr. W. D. Rowe 	 page 3

General Electric Company

                 Dr. Bertram Wolfe 	 page 21

Atomic Industrial Forum, Inc.

                 Mr. Ralph Deuster 	 page 55
                 Or. Leonard Sagan 	 page 59
                 Dr. Marvin Goldman 	 page 67
                 Dr. Herbert Parker 	 page 75

Natural Resources Defense Council, Inc.

                 Mr. J. G. Speth and Dr. T. B. Cochran 	 page 163
                 Dr. A. Tamplin 	 page 229

U. S. Atomic Energy Commission
(Energy Research and Development Administration)

                 Dr. J. L. Liverman 	 page 275
                 Dr. R. E. Yoder 	 page 291
                 Dr. McDonald E. Wrenn 	 page 377
                 Dr. B. Bennett 	 page 417
                 Dr. W. J. Bair 	 page 463
                 Dr. W. Burr 	 page 536
                 Dr. C. Richmond 	 page 541
                 Dr. R. Thompson 	 page 57b
                 Biomedical Effects Panel,
                 Drs. Bair, Burr and Richmond
                 (Continued discussion) 	 page 711

Dr. F. Forscher, Energy Management Consultant	 page 724

U. S. Atomic Energy Commission
(Nuclear Regulatory Commission)

                 Mr. Lester Rogers 	 page 751

Westinghouse Electric Corporation, Power Systems

                 Mr. F. W. Kramer 	 page 798
                 Dr. J. E. Wright 	 page 818

The Environmental Coalition on Nuclear Power

                 Ms. Judith H.  Johnsrud 	 page 850

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                           PROCEEDINGS







     Dr. Mills:  I would like to get this Public Hearing underway.




This is a Public Hearing on Plutonium and the other Transuranium




Elements.




     This particular hearing was announced in the Federal Register




on October 24, 1974.




     To open the hearing, I would like to introduce Dr. W. D. Rowe,




who is Deputy Assistant Administrator for Radiation Programs in EPA.




     Dr. Rowe:  Thank you, Bill

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                                 OPENING REMARKS

                                       BY

                                W,D, ROWE, PH.D,

                        DEPUTY ASSISTANT ADMINISTRATOR
                            FOR RADIATION PROGRAMS
Washington, D.C.                              Environmental Protection Agency
December 11-12, 1974                                Washington, D.C.

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 .'*
     I would like to extend a most cordial welcome to both participants
and audience assembled here for the EPA public hearings on plutonium and
the other transuranic elements.  The Environmental Protection Agency in
its role of providing Federal Radiation Guidance and setting standards
is soliciting information from the scientific community, State and other
Federal agencies, and the public at large requisite to developing
applicable environmental standards and guidelines for these nuclides.
     The functions of the AEC related to setting of generally applicable
environmental standards were transferred to the EPA by the President's
Reorganization Plan No. 3 of 1970.  The functions of the former Federal
Radiation Council were also transferred to the Administrator of the
Environmental Protection Agency at the same time.  It is under these
authorities that the EPA is now attempting to place the standard-setting
picture in perspective and determine whether current standards and
guidelines are adequate or whether these should be revised or changed.
     The establishment of regulatory standards and radiation guidance
involves three different types of judgment which must be clearly
recognized.  It is information which will permit us to make such
judgments that we here desire.
     First, we have the technical judgment.  Groups of related facts may
on occasion be given a different interpretation by the experts, and
result in different conclusions.  The rationale and validity of these
conclusions then needs to be examined from the viewpoint of their
influence on standard setting.  In addition, there are always areas
where the results may not be definitive and uncertainties remain.  While

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it may be possible to conduct scientific experiments to reduce such



uncertainties, the tijne to carry out these experiments may preclude the



necessary information being available at the time action is needed.



Therefore, experts in the technical problem area often must make



collective value judgments on the interpretation of available



information.



     The second type of judgment is the one where the best technical



information as to risks, costs and benefits is considered and balanced



to achieve equitable standards for society as a whole.  In making a



regulatory balance of this type, not only must costs and benefits be



balanced as a whole, but inequities where cost and risk impact on those



who do not directly receive benefits must be considered in terms of the



total and ultimate impact of this activity.  In the case of plutonium



and the actinides this involves consideration of potential health



effects committed for long periods.  This type of value judgment must be



made by society as a whole and not by the technical community alone.



     The third type of judgment is that when standards are set they must



be capable of being implemented and enforced in a way that is visible,



traceable and reportable, and can be substantiated in an evidentiary



manner in the courts.  Thus judgments of a managerial nature as to the



best means of implementing a standard certainly affect the form of a



standard.



     It is not by chance that the Environmental Protection Agency's



Office of Radiation Programs has selected plutonium and other



transuranic elements as the first problem to be considered in this type

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of forum.  The toxicity and long li^e of plutonium and the transuranium
elements, totally man-made elements, provide us with the need for making
value judgments now which will have long-term significance.
     The objective of these hearings is to provide a forum where all
existing information on plutonium and other transuranic elements which
affects radiation protection activities can he aired and considered in a
meaningful way, where all points of view and all who wish to provide
input can have an opportunity to be heard in a studied manner.  It is
our opinion at EPA that this information can be derived by the type of
hearing format we are using here - where the procedures are informal and
a panel of technical experts is used to assure that the information
presented is sufficiently clear for public recognition of all viewpoints
The information that we seek at these hearings is to provide a technical
baseline of information on radiation protection aspects of the
transuranics, but also can be addressed to any one or all o^ the value
judgments that I have described.
     We are earnestly seeking out all available information.  The record
of this hearing will constitute one of many sources of input of
information to that end.  I want to emphasize that point -- the record
of this hearing will certainly make a significant contribution to
establishing the information input, but it is by no means intended to be
the only one.  Our technical staff is already analyzing the problem, we
have let a number of contracts, and we have also requested written
submissions from the technical community and the general public by a
Notice in the Federal Register of September 23, 1974.  All of this

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information will be studied and evaluated and only in this way can we



hope to include all pertinent consideration in our standard-setting



processes.  It may be necessary for us to hold a second round of



hearings in another part of the country, possibly Denver, as has been



requested by local people if the demand for such a second hearing



materilizes.  In any case the record will remain open for 30 days after



the final hearing date so that all may have an opportunity to comment or



rebut and additional material may be provided.  All material received



will become part of the transcript of the hearings.



     Now for some specifics of the problem before us.  The elements



which are under consideration here include plutonium, neptunium,



americium, curium and all the others through atomic number 103.  These



elements are all man-made.  Forty years ago they were unknown.  Today,



they are produced in large quantities in nuclear reactors.  They form a



central part of our national defense, nuclear power industry and space



research program.  They are beginning to appear in consumer items such



as smoke detectors and static eliminators.  Research and development is



underway on such items as heart pacemakers and heart punps.  The list is



expanding as larger quantities become available.



     The potential hazards of exposure to plutonium were recognized very



shortly after the first milligram quantities of this element were



isolated at Oak Ridge in 1943.  There is a long history of concern



related to these elements.  Much work has been done on the toxicology of



plutonium -- but much has yet to be learned.  Similarly, the



environmental transport mechanisms -- especially those occurring over

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8
extended periods of time -- are not yet well defined and much more work
needs to be done.  Yet the picture is not quite so bleak.  Probably more
work has been done, and more money has been spent, in trying to unravel
the mysteries of plutonium than is the case for most potentially
carcinogenic substances.  The earlier studies were motivated primarily
by a concern for the safety of plutonium workers, and most of the early
guidelines were specifically for occupational exposure levels.  Exposure
guidelines have been gradually decreased as new information was
developed and current maximum permissible body burden values were
adopted by the NCRP and ICRP in 1959.  These are under continuing
consideration by all standard-setting organizations and cannot be
considered to be static.
     A central item in our considerations involves estimates of the
total cost of plutonium utilization in terms of numbers of potential
adverse health effects.  For this purpose we intend to utilize the
concept of a "dose commitment," which includes consideration of the
cumulative effects of a persistent radionuclide over the entire time it
is expected to remain in the ecosystem.  This approach is especially
important for the long-lived radionuclides, where the effect of their
release to the environment is largely irreversible and preventive action
is called for.  The parameters required -for such projections include an
estimate of the growth of the plutonium inventory, estimates of release
fractions, and estimates of exposed populations.
     Estimates of plutonium inventories, other than those of the defense
establishment, rest largely on projections of the future of the nuclear

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power industry.  Plutonium is produced in every light-water reactor.  It



is the utilization of this material that is largely in doubt.  There are



proposals to utilize mixed oxide fuels now pending before the AEC, which



would increase the amount of plutonium to be recycled.  Somewhere in the



future there is probably the emergence of the fast breeder reactor,



which would increase the total plutonium inventory by less than an order



of magnitude but significantly increase the amounts to be reprocessed



and recycled.  Thus there is a degree of uncertainty in our projections



and we are most interested in developing a better data base.



     In order to develop a baseline for those judgments of a managerial



nature which are concerned with adherence to a standard, it is necessary



to know both the current contamination levels and the limits of the



measurement processes.  J>Juch work has already been done in measuring



environmental levels in the past, and the work is continuing.



Analytical techniques are being refined and will become ever more



capable of measuring smaller and smaller quantities with better



accuracy.



     As all of you probably know, there is already an existing worldwide



inventory of plutonium.  Most of this was contributed by the early



weapons tests, with some additional contamination in the vicinity of



certain facilities which have handled these materials.   I should



emphasize that, in relation to the large quantities handled, the



releases from these facilities have been miniscule.  This is a testament



to the early recognition for strict control of such releases and the



need for constant vigilance.   There is nothing that can now be done

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about the background levels already in existence.  There is, however, a



need to examine the somewhat higher levels in the environment around



certain -facilities, and to attempt to minimize releases in the -Future.



     One important element of our standard-setting process is that other



interested and involved Federal agencies be brought into our



deliberations early and that their input be given due consideration.



Only in this way can we develop standards which are truly representative



of the entire Federal establishment.  We have therefore set up an



Interagency Advisory Committee to assist us in this task.  Several



members of this group are here this morning as observers to these



proceedings.  This group will provide both technical input and



coordination.  However, the final promulgation of standards rests with



the Administrator of EPA and will follow EPA standard setting



procedures.  Nevertheless, the purpose of the Interagency Advisory



Committee is to look at all aspects of the problem in a coordinated



fashion.  It is expected that participating regulatory agencies will set



their own standards in conformance to EPA standards when they apply, and,



to set their own regulations in accordance with general Federal guidance



when EPA generally applicable environmental standards do not apply.  The



objective is to achieve a total Federal approach to the problem, rather



than a series of fragmented efforts.



     There is one problem on which I would like to touch because I



expect that it may occupy a major part of our attention during both this



hearing and the deliberations to -Follow.  The radionuclides of which we



speak here are predominantly alpha emitters.  The releases to the

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                                                                            1
environment are often in participate form and may be inhaled.  Because



of the low penetrating power of alpha radiation, any damage to the



tissue surrounding such an inhaled particle is restricted to the



immediate vicinity of such a particle.  The question that was first



raised at the Chalk River Conference on Plutonium in 1949 and has



perhaps never been conclusively answered is whether the total radiation



dose received should properly be averaged over the receptor organ (which



in this case is the lung) or whether the exposure limits should be based



on the intense localized doses received.  The Natural Resources Defense



Council petitioned both the AEC and EPA in February of this year to



lower the current guidelines for permissible air concentration values by



a factor of more than 100,000 based on precisely this argument.  We



certainly intend to consider this aspect with all the attention it



deserves.



     Finally, let me repeat that this is an information gathering



hearing.  For purposes of conducting these hearings we have appointed a



panel of distinguished scientists.  Their job is to assure that all



information is brought to light and that all sides of a question are



considered fairly and adequately.



     Now let me introduce the Panel:

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MEIA'IN FIRST




Dr. Melvin First was born in Boston and received his Doctorate of




Science in Industrial Hygiene from Harvard.   He has served with the




Michigan Department of Health and is now on tha faculty of the




Harvard School of Public Health.  He is well kno\m for his many




contributions in air and gas purification.

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KARL Z. MORGAN




Dr. K. Z. Morgan was born in Kannapolis,  North  Carolina,  obtaining




his Ph.D. in Physics from Duke University.  He  became Director  of the




Health Physics Division at Oak Ridge  National Laboratory  in  1943.  He




is a member of the NCRP as well as  the ICRP and  is  presently the




Neeley Professor in the Nuclear Engineering Department at Georgia Tech.
                                                                        13

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   EDWARD RADFORD




   Dr.  Edward Radford was born in Springfield, Massachusetts.   He




   earned his M.D.  degree at Harvard where he taught at the School of




   Public Health.   He is professor of Environmental Medicine at the




   Johns Hopkins School of Hygiene and Public Health.

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JOHN GACIiER




Dr. John Garner was born in the United Kingdom where he was educated,




majoring in biochemistry and received his doctorate in Veterinary




Science at Liverpool.  After serving in several assignments in Africa




and the U.K. he came to the U.S. in 19b5.  He served as the Director




of the Collaborative Radiological Health Laboratory at Colorado State




University from 19b5 to 1972.   He is now Director of the Experimental




Biology Laboratory of EPA at Research Triangle Park in North Carolina.

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If)
 WILLIAM A.  MILLS




 Dr.  William A.  Mills was  born  in  Lynchburg, Virginia,  received his




 Ph.D.  in Biophysics from  the Medical  College of Virginia.  He is  a




 Commissioned Officer -  U.S. Public Health  Service,  current rank




 Scientist Director.  Past employment; Oak  Ridge National Laboratory,




 The  Southeastern  Radiological  Health  Laboratory, Bureau of Radiological




 Health and is currently the Director  of Criteria and Standards Division,




 Office of Radiation Programs,  Environmental Protection Agency.  Field of




 sp2Cialization is the Bioeffects  of Radiation.

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LAURISTON S. TAYLOR




Dr. Lauriston S. Taylor was born in Brooklyn,  New York obtaining  a




D.Sc. degree from the University of Pennsylvania in I960.  He worked




at the National Bureau of Standards for many years starting  in  1927;




becoming Chief of the Radiation Physics Division in I960.  He now




serves as the President of the National Council  on Radiation Protection




and Measurement.

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     Dr. Mills will be the presiding officer at the hearing.




Bill, let me turn the hearing over to you.




     Dr. Mills:  Thank you, Bill.




     Let me briefly review some of the procedures and requirements




that will be applicable to this hearing.




     We need to say it was announced in the Federal Register.  The




hearing will be conducted informally.  Technical rules of evidence




will not apply.  Discovery and cross examination of participants will




not be permitted.




     The hearing panel is appointed by Dr. Rowe, and will consist of




a chairman and three or more experts in the field of radiation




protection.  The panel will conduct the hearing.  The chairman of the




hearing panel is empowered to conduct the meeting in a manner that in




his judgment will facilitate the orderly conduct of business, to




schedule presentations of participants, and to exclude material which




is irrelevant, extraneous or repetitious.




     Persons wishing to present an oral statement are asked to give




notice no later than November 23, 1974, in order to be placed on




the agenda.  The time allotment for such oral statements shall be




at the discretion of the chairman.  Ordinarily, it will not exceed




20 minutes.




     Persons wishing to submit written statements regarding the




agenda items may do so either in advance or during the hearing.




Such persons may also request an opportunity to present an oral




statement.

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     Oral presentations may be presented by panel discussion of




technical experts chosen to present a particular viewpoint in notices




given.  Time allotment for such panel discussions shall be at the




discretion of the chairman, but shall not ordinarily exceed 60




minutes.




     Requests at the time of the hearing for the opportunity to make




oral statements with no previous notice shall be ruled on by the




chairman, who is empowered to apportion the time available, but not




ordinarily to exceed five minutes.




     Questions may be propounded by members of the hearing panel




only.  I ask that questions be submitted to Dr. Gordon Burley for




referral to the panel.




     The use of cameras is permitted only before and after the




hearing, and during recesses, not during the session.




     A transcript of the hearing will be made, and a copy of the




transcript, together with copies of all documents presented at the




hearing will constitute the record of the hearing.




     The copy of the transcript of the hearing will be available for




public inspection and copy within 30 days after the conclusion of the




hearing at the U. S. Environmental Protection Agency.




     To assist the reporter and the audience, I ask that the speakers




and panel members avail themselves of the microphones.  Also, I




would ask that the speakers attempt to limit their remarks in accord




with the standard procedures, so that we can reasonably adhere to




the agenda as it is shown.

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     With regard to the agenda, I am not sure I have all the changes,




but we have been asked by the General Electric Company to allow them




to be our first witness.  If I could, I would like to call for the




General Electric Company, Dr. Bertram Wolfe.  Is he in the audience?




     Dr. Radford:  Mr. Chairman, before we get to that, I would like




to ask, is it the intent that the panel of experts speaking for




individual testifiers will be given 60 minutes automatically, or will




it be held to a somewhat lower figure?




     Dr. Mills:  If you are talking about the discussion panel -




     Dr. Radford:  No.  We have several groups coming in, Atomic




Industrial Forum and so on who are presenting panel testimony, under the




terms of the Federal Register statement.




     There, it is stated that panels would not exceed 60 minutes.  The




question is, will they be given 60 minutes automatically?




     Dr. Mills:  We would hope that they would stay within a 60 minute




limit.  They will automatically be given 60 minutes.




     Dr. Radford:  They will automatically be given 60 minutes?




     Dr. Mills:  Yes, sir.




     Is Dr. Wolfe in the audience?




     Dr. Wolfe:  Yes.




     Dr. Mills and gentlemen, I personally and the General Electric




Company are pleased to participate in this public hearing called by the




Environmental Protection Agency.




     I want to start by thanking the Atomic Industrial Forum for letting




me go first.  I have an unavoidable conflict this afternoon, and a plane

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to catch.




     As indicated in the Federal Register of October 24, this hearing




concerns itself with the environmental impact of plutonium and other




transuranium elements and consideration as to whether new guidelines or




standards under the authorities of EPA are needed to assure adequate




protection of the general ambient environment.




     I have some written remarks on the subject which we will give to you




and would like to have in the record.  I will not go through the whole




thing in the interest of saving time.




     I want to indicate that my name is Bertram Wolfe and that I am




General Manager of the Fuel Recovery and Irradiation Products Department




of General Electric.




     Sitting to my left is Mr. Terry Trumbull who is Counsel to the




General Electric Nuclear Energy Division.

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                                                                             23
                             PUBLIC HEARING
             UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
                           DECEMBER 10, 1974
                            WASHINGTON, D.C.


               PLUTONIUM AND OTHER TRANSURANIUM ELEMENTS
                        WRITTEN STATEMENT OF THE
                        GENERAL ELECTRIC COMPANY
                        NUCLEAR ENERGY DIVISION
                           175 CURTNER AVENUE
                       SAN JOSE, CALIFORNIA 95125
                       ORAL SUMMARY STATEMENT BY:
                              Bertram Wolfe
                             General Manager
                Fuel Recovery £ Irradiation Products Dept.
Terry A. Trumbull,
Counsel

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  24
The General Electric Company is pleased to participate in this public hearing
called by the Environmental Protection Agency (EPA).   As indicated in the
Federal Register of October 24, this hearing concerns itself with the environ-
mental impact of plutonium and other transuranium elements and consideration
as to whether new guidelines or standards under the authorities of EPA are
needed to assure adequate protection of the general ambient environment.

The General Electric Company believes that it would be helpful to both the
nuclear industry and the public at large if a sound standard for ambient con-
centrations of plutonium, other transuranium elements, and other radioactive
elements of concern were developed.  The emphasis on development of any
standard should be on the word sound.  We believe that current practices in
the nuclear industry today, in accordance with AEC regulations, assure that
there is no risk to the public health from plants built in accordance with
these regulations.  Nevertheless, a sound standard would, we believe, pro-
vide a benchmark for the public with which they could judge the adequacy
of industry measures to assure that the risk to public health is negligible.
Similarly, a sound standard would provide a benchmark for industry and
government regulatory agencies with which they could set design and surveil-
lance requirements for plants and activities involving radioactive materials.
In addition, a sound standard would allow meaningful trade-offs for public
consideration as to whether national resources should be devoted to measures
to further minimize ambient radioactive levels from human activities or
whether these resources might more beneficially be devoted to other areas of
public welfare.  At present, with no quantitative standards, the public is
left with a lingering concern about the health effects of nuclear activities.
This is reinforced by the use of the philosophy of "as low as practical,"
which implies a lack of knowledge to the public r.nr! emphasizes continual back-
fitting or other improvements which are required vi 'chout regard to any analysis
of the costs and benefits to be gained.  The use of th:s philosophy may result
in electricity cost increases which are not comr.icnsurate with the benefits of
relatively minor effluent control improvements.

As noted, the emphasis of our endorsement. -"•"-" tae c^vc.jj. . M': of star.clar 3::
for plutonium and transuranium elements is on the word cound.  As indicated

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                                                                              25
in the following remarks, we believe there  is no  risk  to  the  public  from
   ,]'-.r activities cuvj sicn^d i>i J.:.c ;,•_.-. ^            •-•     •:.->.  v - .  .CC
regulations.  Thus, there is time to develop a  sound sLain". .rd, and the
development of such a standard will require substantial r search and  study
which we believe will take a number of years.   We endorse the development of
such a standard but suggest some general guidelines.   First,  the standard
should consider the possible health effects on  individuals  in light of the
unavoidable risks from radiation which occur  because  the atmosphere  is
subject to cosmic-ray bombardment and because the materials of our planet
are, in part, naturally radioactive in any event.  Further, an extensive
cost-benefit analysis needs to accompany the development of any  standard.
It is imperative that the public as well as governmental decision-makers
be aware of the cost of implementing any standard and  the risk which  would
be avoided.  For example, the public might be interested to learn what addi-
tional costs they can expect to their electric  bill from a proposed standard
and how the reduction in risk compares to normal  risks such as would  occur
on an airplane flight or in moving from a wooden  to a  brick house.

Finally, we strongly suggest that if the EPA sets out  to develop standards
in the area of plutonium and transuranium elements that they  work closely
with the AEC to avoid the inefficiency of two governmental agencies working
independently on the same problem.

I.  RECOMMENDED APPROACH TO AMBIENT STANDARDS DEVELOPMENT
    The emissions of plutonium and transurcniur> elements in effluents from
    nuclear facilities always nave been limited by AliC regulations and
    license conditions.  These emission limitations are accomplished  by a
    system of requirements generally as follows:
    a.  Confinement of radioactive material inside multiple physical  barriers;
    b.  Control of access to plant process!::.., jrc>-is through additional
        physical barriers;
    c.  Ventilation control such that air flcv,,-, frcm areas of lesser  to
        areas of greater contamination potcn' j-il;
    d.  Effluent treatment for air by filtration,  for  liquids by chemical
        means, and for sol:.;- L-  rl .cont.v.,    '  -  : "..'.-:-, ,.11 remit ;.:.  in
        effluent rndionucliciu concantrdLio.i- I -s.^  tr.r.n regulatory values.

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   26
          In some cases,  liquids are solidified;
      e.   Controlled burial of solid waste contaminated with radionuclides above
          regulatory values;  and
      f.   Measurement of  radionuclide concentrations in effluents and on items
          or materials, as well as other appropriate actions to assure that
          regulatory values are not exceeded.
      These requirements  have been successful  in  limiting the emissions of such
      materials from nuclear facilities to levels such that the resulting organ-
      man-rem dose to the public is very low compared to the same dose from
      naturally occurring alpha-emitting radionuclides.

      The EPA estimates*  the current annual internal radiation dose to bone
      (endosteal cells) from natural alpha radioactivity in the United States
      is 37.1 millirem average and to the lung is a minimum of 100 millirem.
      Using the EPA figure of 205 million persons in the USA in 1970,* the total
      organ-man-rem dose  in 1970 to these organs  is 7.6 and 21 million organ-man-
      rern, respectively.

      Fuel reprocessing is expected to be the  dominant source of release of
      transuranic elements.**  The EPA's estimated annual dose accrued to the
      bone and lung of the United States population from fuel reprocessing in
      1970 is 0.001 millirem per person from all  radionuclides.  About half
      of this dose results from alpha-emitting radionuclidea.  The total organ-
      man-rem dose in 1970 from reprocessing is calculated to be 0.0002 million
      man-rem to either lung or bone.  These doses are 40,000 and 100,000 times
      less than the corresponding doses from natural alpha radioactivity.

      Comparing similar bone and lung doses in the y^ar 2000 for 321 million
      Americans shows that the natural alpha bone close ii 1? and 32. million
      man-reia, respectively!  In the year 2000, the org^n alpha doses from
      reprocessing plants are expected to increase by about a factor of two.
 *ORP/CSD 72-1, "Estimates of Ionizing Radiation L/G.-MS on the United States,
  39GQ - 2000."
**Barr, N. P., "Quantitative Health estimate:, of ?:. • rr T-- r i :• Releases," paper
  presented at the; Ovtcbcr 1974 meeting of ?.   !<-,...i *~.a.-. .. ••' -'orjiety, Kar-hirr^r/n,
  D. C.

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                                                                               27
     Therefore, the total population bone and lung <~.; : i:  -lie y?-i\. 2000 ..c.'.-ld
     be 0.0004 million man-rem from this source.  These dOo:.s are respectively
     approximately 30,000 and 80,000 times less than the :• .-rresponding doses
     from natural alpha radioactivity.  Current emission control procedures,
     therefore, have been demonstrated effective, and the record of performance
     with these regulations and license conditions does not support a need
     for urgent change in the near term.

     The amount of plutonium currently handled is relatively small.  The AEC
     estimates* population doses always will remain at very low levels—even
     from the expected release of nuclides due to operation of 2,200,000 MWe of
     liquid metal fast breeder reactor  (LMFBR) capacity anticipated in the year
     2020.  At any rate, during the next five or so years,  the amount of plu-
     tonium handled is not likely to increase significantly and will remain
     very small compared to estimates of quantities to be handled after the
     end of the century.  Thus, there is time to acquire needed information
     such as real pathways of plutonium to man and more realistic estimates
                                      r
     of the effects of plutonium in humans upon which a practical environ-
     mental standard could be developed.  We understand that Mr. Parker, speak-
     ing for the AIF, will describe in more detail some of the research needed.
     The information required should be delineated, and a specific research
     plan should be formulated to provide this information so that the develop-
     ment of appropriate environmental standards for ambient concentrations of
     transuranium elements can proceed on a sound basis.

     Meanwhile, the American National Standaids Institute should complete
     development of design criteria for mixed oxide fuel fabrication plants
     and initiate development of design criteria for fuel reprocessing plants.
     These design criteria should include c.,uoc: ifications for achieving effluent
     emission control.  Unti] the more quar.t -' r.ativc standards are developed,
     the principle of limiting rndionuclide releases to levels as low as
     practical may have to be ucilized.  We have indicated that we believe
     this to be a less than satisfactory long-term procedure, but also that
*ORP/CSD 72-1, op. cit.

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28
      it has been effective in limiting man-made ambient transuranium levels to
      below naturally occurring levels by several orders of magnitude.  These
      design specifications should consider the relative effect of each element
      or nuclide on man, rather than assuming a single value for the entire
      class of transuranium elements.  The technical reasons for this recom-
      mendation were set forth in the General Electric comments on the proposed
      amendment of 10 CFR 20 and 150 concerning disposal of transuranic waste
      by burial in soil.*

      The AEC should continue its plant-by-plant control of radionuclide emissions
      by regulations and license conditions.  Environmental monitoring should
      continue around nuclear facilities to obtain data useful in the overall
      research plan.

      We should like to emphasize that meaningful standards on ambient concentra-
      tions of transuranium elements should be consistent with design and operat-
      ing requirements for nuclear facility effluent control and waste management.
      Thus, development of such standards should involve a cooperative effort of
      all concerned governmental agencies to avoid both duplicative, costly
      efforts by these agencies and the confusion which would result if nuclear
      facilities were faced with the need to conform with inconsistent or con-
      flicting requirements.

      In summary, we believe that present regulatory requirements for the design
      and operation of nuclear facilities are effective in assuring that the
      public benefits from operation of these facilities are not negated by
      effects inimical to the public health.  On the other hand, we believe
      that quantitative standards for ambient levels of transuranium elements,
      based on sound benefit-cost analysis data, would have significant addi-
      tional benefit to the nuclear industry and the public at large.  We
      support the development of such standards and the supporting research
      efforts necessary for their development.
 II.   GENERAL ELECTRIC DIRECT EXPERIENCE IN HANDLING AND__USING PLUTONIUM
     A.  Experience  with Plutonium at Vallecitos Nuclear  Center
         The General Electric  Company has been  actively engaged  in  the development
         of plutonium-bearing  fuels since  1959  CL  its Vall-_-c-itos Nuclear  Center  (VKC) ,
*Letter to the AEC, dated 11/6/74,  signed by A.  N.  Ttchaeche of General Electric Co.

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                                                                          29
located in the San Francisco Bay Area.  The j~: •-•  -.. .  ' '_G-;VJ^. ?-•*•• :>r  I  •.-/
was established at General Electric's Vallecito.-: ,;ucj.t .r Center in 1962,
expanded in 1967 to increase fuel fabrication capacit", and expanded again
in 1971 to include scrap recovery.  For over  15 year:.., VNC has been  fabricat-
ing plutonium fuels, developing process and control methods and equipment,
and studying fuel properties.

Plutonium work has not been confined to the Plutonium Laboratory.  Examina-
tions of mixed oxide fuel rods and capsules are carried out in the VNC
site's alpha hot cells.  Mixed oxide capsules are irradiated in General
Electric Test Reactor  (GETR) and neutrographed at the Neutron Test Reactor
(NTR).  Practically every facility on site has at one time or another
performed work with plutonium.

Over 1100 fuel rods have been fabricated for  fast and thermal reactor
programs, using four process methods, six cladding methods, 60 kg of
plutonium, over 1.2 metric tons of mixed oxide fuel and some 171,000
pellets.  The fuel pins were fabricated under stringent product quality
control conditions and were produced to meet  a variety of design require-
ments.  These fuel pins have been irradiated under varying conditions  in
five different test reactors and four commercial power reactors.

General layout and arrangements for plutonium handling facilities are  based
on multiple enclosure, separation of facilities and minimum fissile  quanti-
ties.  Construction materials, ventilation, glove-box design, lighting and
radiological controls have also played a key  role in  safety considerations.

The VNC environmental monitoring program was  established to measure  any
significant increase  (above natural backm-ound levels) which may be
attributed to plant operations and to cnrvre  th-:.4: the amounts of alpha
as well as beta-gamma activity released to che environment are controlled.
The radioactivity in the environment both, on  anc! adjacent to the site  is
measured.

The work performed at VNC over the last 15 yr>^rf.- has boen accomplished
in a safe and efficient rivo'_r- '.-it!'out    ..•_••:' .  ?}u^ .iu^

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30
     controlled at all times to minimize release to the VNC environment to
     levels substantially below regulatory requirements and generally to
     several orders of magnitude below such r<'.'i'!irv:rr.c.ntj..   Tor exaniple, less
     than three microcuries of alpha-emitting materials have been released
     per year to the environment from the stack of the Plutonium Laboratory,
     and essentially all of these releases have been naturally occurring
     daughter products of uranium and thorium, not transuranium elements.
     These emissions are insignificant and illustrate the effectiveness of
     control at the Vallecitos site.

     None of the individuals employed through the history of the plutonium
     work at the site has ever experienced an internal deposition of plutonium
     measurable with existing methods and procedures.  It is estimated that
     about 350 man-years of work have been directly connected with plutonium
     at Vallecitos. There has been only one "reportable" occurrence involving
     plutonium at VNC and that consisted of a plastic bag being torn from a
     glove box during a maintenance operation.  Contamination was confined to
     the room.

     Vallecitos experience shows that the plutonium economy of the future can
     and should be approached with confidence.  Further details on Genera.1
     Electric Vallecitos experience are contained in the references listed below.

  References:
  1.   Quarterly Report and Accumulative Annual Summary of the Vallecitos Nuclear
      Center Self-monitoring Program,  1973 - 1974.
  2.   Annual Reactor Operating Reports, TR-1 (GETR) and R-33 (NTR).
  3.   VNC Stack Release—Ground Dose  Rate Determinations in Support of the
      Zero Release Study,  November 6,  1972.
  4.   GE/VNC Safety Standard titled,  "Regulation cf Radioactive Effluents,"
      July 1974, No. 2.3.2.
  5.   Environmental Monitoring Manual, Vallecitcs Nuclear Center, NEDO-12449,
      November 1973.
  6.   Statistical Evaluation of the VNC Environmental Ennui ing Program, 1965 -
      1973, NEDO-12534, October 1974.
  7.   Enviro'iitentr.! Surveillance for  Radioac-;;: v.; cy V ^ "' < ..: * - _-, Nuclear Center
      (fivs operating history reports):  Nl~. , I.M81 ,  !'.'• "-11-105, NEDO-12341,
      APIO-1013-2 and APIO-1013-1.

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                                                                              31
        General Electric has had significant experience with plutonium with
        the SEPOR facility.   This reactor was operated for about three years
        (March 1969 through January 1972) using plutonium fuel.   As a part
        of the extensive testing program, deliberate overpower transients
        which  subjected the fuel to repeated dynamic conditions in excess
        of those in a commercial power reactor were induced to demonstrate
        the inherent shutdown capability of the LMFBR,  During the entire period
        of SEFOR operation,  there was no release of plutonium to the environment
        or deposition of plutonium in plant operating personnel as determined
        by standard detection and measurement instrumentation in environmental
        and personnel monitoring programs,

        SEFOR was charged with 380.4 kg of plutonium and generated 25,764
        MW hours of energy during a total operating time of 3 ,895 hours .
        The total operating experience includes about 117 man-years involving
        plant personnel .

        Details of this plutonium experience gained during the operation  of
        the reactor are contained in the references listed below.
References
1.  Meyer, R. A., Reynolds,  A. B. , Stewart, S. L. ,  Johnson, M.  L. , Craig, E. R. ,
    "Design and Analysis of SEFOR Core 1," GEAP-13598, June 1970.
2.  Field, J. H., Johnson, M. L., Novak, P. E. , "An evaluation of the Effect
    and Design and Operating Variables on SEPOR fuel and Fuel Cladding,"
    GEAP-5309, December 1967.
3. "Southwest Experimental Fast Oxide Reactor Development Program, Thirty-First
    and Final Report, November 1971 - January 1972.
4.  Rider, B. F. , Ruiz, C. P., Peterson, Jr., J. P., Mclaughlin, T. V., "BURNUP:
    A FORTRAN IV Code for Computing U and Pu Fuel Burring from U, Pu, Nd Mass
    Spectrometric Measurements — Updated to Include  Fast Roactor Fuels,"
    GEAP-5355A, revised January 1970.
5.  Noble, L. D. , et al, "SEFOR Core I — Test Results ro 20 MW, "  GEAP-13702,
    April 1971.
6.  Noble, L. D, , KiiEsmaul,  G., Derby, S. L., "}>:DI •r? :v-ni. .1 Program Results
    in SEl-\ri< Core IT," GEAP-J3838, June 1972.

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32
  7.  "Standard Method  of  Test  for  Atom  Percent  Fission  ^n  !^--nium
      an-I  Plutonium Fuel  (13d-148 ^othcd),"  ;\:FTX Uc---.    --.     .•?.?.'-r*-,
      General Test  Methods,  ASTM Standards,  Pa: t 30,  '•'

  8,   Cohen, K.  P.,  Greebler,  P.,  Horst,  K.  M.,  Wolfe,  B. ,   .'he Southwest
      Experimental  Fast Oxide  Reactor," VIII Nuclear  Congr^.,.v.,  Rome, Italy,
      June 17 -  20,  1963.

  9.  "SEFOR Preliminary Safeguards Summary  Report,"  submitted to the Atomic
      Energy Commission on October 16,  1964, and Supplements 1, 2,  3 and 4.

 10.  "Southwest  Experimental Fast  Oxide Reactor Plant Operating Report,"
      First Quarterly, May 1,  1969 through  July 31,  1969.

 11.  "Southwest  Experimental  Fast Oxide  Reactor Plant  Operating Report,"
      Second Quarterly, August 1,  1969  through  October  31,  1969.

 12.  "Southwest  Experimental Fast  Oxide Reactor Plant Operating Report,"
      Third Quarterly, November 1, 1969 through January 31, 1970.

 13.  "Southwest  Experimental Fast  Oxide Reactor Plant Operating Report,"
      Fourth Quarterly, February 1 through  April 30,  1970.

 14.  "Southwest  Experimental Fast  Oxide Reactor Plant Operating Report,"
      Fifth Quarterly, May 1 through July 31, 1970.

 15.  "Southwest  Experimental Fast  Oxide Reactor Plant Operating Report,"
      Sixth Quarterly, August  1,  1970 through  October  31,  1970.

 16.  "Southwest  Experimental Fast  Oxide Reactor Plant Operating Report,"
      Seventh Quarterly,  November  1, 1970 through January 31, 1971.

 17.  "Southwest  Experimental Fast  Oxide Reactor Plant Operating Report',1
      Eighth Quarterly, February 1, 1971  through April  30,  1971.

 18.  "Southwest  Experimental Fast  Oxide Reactor Plant Operating Report,"
      Ninth Quarterly, May 1,  1971 through  July 31,  1971.

 19.  "Southwest  Experimental Fast  Oxide Reactor P.lau'c Operating Report,"
      Tenth Quarterly, August  1,  1971 through October 31,  1971.

 20.  "Southwest  Experimental Fast  Oxide Reactcv K1 ant Operating Report,1'
      Eleventh Quarterly, November 1, 1971 th.--ov.-jh January 31, 1972.

 21.   Regimbal,  J.  J., et al., "Fuel Failure DC-LCjtion  Capability at SEFOR,
      Trans. Am. Nucl. Soc. 14, p. 69,  June 1,  ]':"/]..

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                                                                                  33
III.  NATIONAL  INCENTIVES  FDR USK OF PUJTONIT1:! ?•',
      Any national  solution  to our energy supply problems over the next few
      decades must  include  the expanding use of nuclear energy.  Unless nuclear
      power is fully  utilized, it is questionable whether we can meet our
      national energy needs without major degradation in our living standards
      and painful social  and economic dislocations.  Without nuclear power,
      there is no hope of coming close to national energy self-sufficiency.

      The use of nuclear  energy results in the production of plutonium which
      is a valuable commodity and at the same time, a potentially hazardous
      material which  must be carefully managed.  We have indicated previously
      that several  decades  of experience have shown that plutonium can be
      managed in accordance with AEC regulations so as to result in no effect
      on the public.   Indeed,  the use of this plutonium as recycle fuel in
      thermal reactors and  ultimately in fast reactors will have significant
      overall benefits to the welfare of the public.

      By the end of the next decade, operation of our nuclear plants will have
      produced over 500 tons of fissile plutonium.  Use of this material in the
      form of mixed oxide fuel in present light water reactors will save the
      public over five billion dollars in cost of electricity.  Perhaps more
      importantly,  use of this plutonium in lieu of oil would save over ten
      billion barrels of  oil  and in excess of 100 billion dollars in foreign
      exchange .

      In the longer term, plutonium used in fast brt.-eJoc reactors can provide
      a low-cost energy supply for this nation and) '_h<2 world for the indefinite
      future.  In the follov/ing discussion, the benefits of p] utonium use in
      fast breeders are described in financial <-.-•-•--)<;.   This rnalysis may
      significantly understate the case,  since- wJ ,. ~.\y.\\. th? f.>:t breeder in
      the next century, the nation may be faced viti; energy needs which
      cannot be satisfied in any other acceptable ::,.n^';r.

in.  MATio];sAL__jr:cr;JTivF.s FOR USE OF FAST EKr:7";:i :; :.::: ; :
      In addressing  factors  involved  in  cost -"• • i'1 > \~  -•*>-•'•-• .- • for the use of
      }<]uto;iium, t!'> -\-Jioral rice; trie Co;ap^ ,    . .  r;---:-*    _   L'cjpdtcd _.r  -<
      study to evaluate the  incentives for t'l'e t"p:.-t  v>rccxV.r reactor, which use:-

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34
     Plutonium as its principal fuel.   General Electric believes that the n^e
     of breeder would result in lower power co-Ls,  j  --^ -    ".:•!'.-.•-..-  •  :.^ .  •• ,
     and substantial assistance toward achieving the naLio1  -1  goal of energy
     self-sufficiency.

     This in-depth economic' study was initiated jointly several months ago
     by Commonwealth Edison and General Electric.  Commonwealth Edison engaged
     the services of an economist from Harvard University and an experienced
     consulting engineer from the uranium mining industry.

     For the study, a reference case was chosen on the basis of the best
     current projections for both the capital costs of a breeder reactor
     and the availability of uranium ore.  An accurate means of comparing
     future benefits against development costs was also developed.  This
     reference case indicated that there will be a 157 billion-dollar benefit
     through the year 2050 from the breeder, measured in 1974 dollars (dis-
     counted from an actual total benefit of 3,8 trillion dollars).
     These savings come mainly from uranium utilization, since the breeder
     converts the very abundant U-238 to usable plutoniuin fuel.  The importance
     of using this U-238 in the achievement of energy self-sufficiency must
     also be considered, since projections show domestic high-grade uranium
     ores being depleted about the year 2000.  After this, the United States
     would be forced to exploit very low-grade uranium shales, with an energy
     content that is no more than coal.

     The critical projections input to this study wcs also modified in a sensi-
     tivity analysis in order to determine hov: sensitive these incentives for
     the breeder may be to varying future conditions.  For example, analyses
     were run based upon assumptions that th^ currently estimated availability
     of uranium ore was doubled, the capital c,xr.L c '>. breeders raised fror.i 1-1/4
     to 2-1/2 times thc.t of light water ree.:- .•  -  .:r- the- c1 cc'trical load growth
     rate was reduced from six to four perceir;, jC-r year.  All cases slill
     resulted in many tens of billions of dollc >  L- saved as a result-of use
     of the breeder.

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                                                                             35
 In addition to economic incentives, there are environmental  reasons for
 choosing  fast breeder reactors as a future source of energy,*  as with all
 nuclear reactors,  breeder reactors can operate with essentially no atmos-
 pheric pollution.   Moreover, there will be no need to mine new breeder
 fuel for  many decades and only minor amounts will be required  after that,
 Conversely,  without the breeder, both the coal and uranium mining
 industries  will have to increase to many times their present sizes, much
 of it involving highly disruptive strip mining.
* Gibson. :•. 3., "The l.iauJd  Mof.nl  Kc>sr  ?•"-:-•.,  •- : •"   •' c r,'' Handbook ci ilr.-•?<.;-,
 Tvj'jhi.o.Loj', , McxJraw-Jij 1.1 Co. ,  (to  \ .- TJU :I:   : ,1) .

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36
       Dr.  Mills:   Thank you very much,  Dr.  Wolfe.




       An initial  question:   In the experience  of  General  Electric,  how do




  you define "as-low-as-practical" in  your  use?




       Dr.  Wolfe:   I am not  sure,  Dr.  Mills,  that  there  is indeed a




  definition of "as-low-as-practical."  I think that  is  one of  the




  difficulties  the nuclear industry has  in  designing  nuclear facilities




  in general.




       One  looks at the technology available and designs nuclear plants and




  new processing plants so that he gets  as  close to zero release of  every-




  thing as  he can.




       But  "as-low-as-practical" of course  depends upon  the state of the




  art at the particular time;  if one develops,  for example,  a new instru-




  ment to measure  radioactivity it now becomes  practical to take other




  measures.




       One  of the  problems we have in  nuclear plants  is  that the release




  in terms  of ambient levels at least  is so  low that  one cannot measure the




  release around nuclear plants.




       One  of the  other problems we have is  that as new  techniques are




  developed,  it then does become possible to  get lower and lower levels




  measured,  which  sometimes  requires backfitting, which  we believe in many




  cases may cause  an increase of cost  to the  consumer without any real




  benefit.




       Dr.  Mills:   I take it,  what you are  saying  from your own experience,




  limiting  the  "as-low-as-practical" concept  to  give  control technology to




  reduce the level of emission may not be sufficient  if  one looks at the

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                                                                            37
practicality of the measurement in the environment?




     Dr. Wolfe:  No.  I think our feeling is that "as-low-as-practical"




is to produce levels of radioactive emissions to the environmental picture




very low compared to any sensible standard relative to public health.




     Our concern with "as-low-as-practical" is its a nebulous concept.




I am not able to define it very well for.you, because it is nebulous.  We




think it implies to the public a lack of knowledge which the public might




interpret as meaning there is an unknown hazard which might affect them.




     We think also that the "as-low-as-practical" philosophy may be




leading to increase in plant costs and, thus to cost to the consumer




which really is not transferrable to any benefits they receive from per-




haps minor deductions from effluents which may become practicable at the




time.




     I might add that this is not a unanimous view.  I had breakfast with




Mr. Parker who, in fact, does support the "as-low-as-practical" philo-




sophy.  I think it is a generally poor philosophy for an industry to




follow.




     I think no other industry follows it.  I think we should understand




where the threshold, the cost-benefit level, is reasonable in terms of




providing benefit to the public relative to the risk.  We should then




set quantitative standards significantly below that.




     1 think the nuclear industry would agree with almost any reasonable




standard that would be set.




     Dr. Mils:  Dr. Taylor?

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38
        L)r. Taylor:  I have a comment.  The big difficulty with this




   discussion of "as-low-as-practical" centers about the fact that the gov-




   ernment has tried to quantitate the concept "as-low-as-practical."




        If you read all the discussions of the NCRP and ICRP, you will find




   this was not supposed to be quantitated.  It is good advice, generally;




   the numbers that are set by these bodies and others are believed to be




   numbers that are acceptably safe.




        On the other hand, one should always use good judgment on improving




   on his protection practices, if he can.  But you should not try to tie




   numbers to this.




        You cannot put a numerical value on "as-low-as-practical."  As soon




   as you do that, you have a new set of standards.




        Dr. Mills:  Dr. First, do you have any questions or comments?




        Dr. First:  I would like to echo what Dr. Taylor has just said, and




   also to point out, although, Dr. Wolfe, you have said that no other




   industry adheres to this practice, I think this is incorrect in that for




   many, many years, standards for occupational health have always included




   the provision that one must not exceed the standard, but at the same time,




   should expose the worker to no more of the mentioned substance than is




   practical.




        I think this is a reasonable way to handle it.  It is not unique for




   your industry.




        I did, however, want to ask you a question on a statement on page 5




   of your testimony.  It says:

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                                                                            39
     "We should like to emphasize that meaningful standards on ambient




concentrations of transuranium elements should be consistent with design




and operating requirements for nuclear facility effluent control and




waste management."




     Do I interpret that to mean the standard should follow with the best




practice, rather than the best practice should try to meet the standards?




     Dr. Wolfe:  No.  I think the statement is meant to be much less




subtle than that.  It really is meant to emphasize that a standard that




the EPA comes out with on ambient levels should, in fact, be consistent




with the requirements of the AEG or successor organizations that they




placed on nuclear plants, that a meaningful standard on ambient levels




should be reflected in AEC or NCRP requirements.




     On the effluents from plants, the plant designer or plant operator




should not be faced with perhaps inconsistent requirements.




     With respect to your other comment, I want to make it clear, I do




not think anyone in the nuclear industry suggests that one should not




take reasonable measures whenever he can that would reduce effluents,




even though he had already been well below the regulatory standards or




regulatory requirements.




     I do not think that there was any argument that one should use




prudence in the same way as I take it the occupational hazard situation




you are suggesting,  that one should meet the standard but at the same




time he should take all reasonable measures to further protect workers.




     I do not think there is any inconsistency there with what I said.




On the other hand,  I think that if you look at occupational standards

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40
   rules, you do set standards and people are measured by those standards.




   I do not know that they are really measured by then going in and seeing




   how far below the standards they reach, which is the situation from a




   regulatory standpoint in the nuclear energy business.




        Dr. Mills:  Dr. Radford?




        Dr. Radford:  Dr. Wolfe, just for the record, I would like to say




   that I agree with you completely about the "as low as practicable"




   concept as it applies to trying to engineer control.  I also do not think




   that the "stay as low as practicable" really helps the public very much




   in terms of deciding whether or not there are significant risks.




        I would like now to ask you a few questions.




        You mentioned that General Electric has now had about 25 years of




   experience in handling plutonium.  Is that right?




        Dr. Wolfe:  We have had about 15 years in our commercial facility




   in San Jose.  Of course, we were the contractor for Hanford prior to that,




   starting in the early 1940's.




        Dr. Radford:  In your current operations, you stated you had had




   this experience and that you had had no problems, or words to that effect?




        Dr. Wolfe:  That is correct.




        Dr. Radford:  How did you determine whether you had problems or not?




   What sort of programs do you have within the plant to determine this?




        Dr. Wolfe:  In the written testimony, Dr. Radford, we describe a




   number of measures that we take at Vallecitos in the laboratory.




        We, of course, monitor the effluents coming out of the plant.  The




   statement I made in the paper was the plutonium was controlled at all

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                                                                            41
times to minimize release to the environment.  Of course, there are




measurements that indicate that less than three microcuries of alpha




emitting materials have been released per year to the environment from a




stack of plutonium, in the material that goes out through the stack.




     Essentially, all these releases have been the naturally occurring




daughter products of uranium, not transuranium elements.  So these are




insignificant to illustrate the effectiveness of the site.




     We take, of course, periodic and regular site surveys.  I might also




add that at the site we do have some very sophisticated measuring techni-




ques that are not generally used industrially.




     We use these to further examine plutonium and transuranium elements.




     So that is the basis.




     Dr. Radford:  Then, you say you have not released more than x micro-




curies of alpha activities from the stack.  Is that determined by actual




measurements?




     Ur. Wolfe:  Yes, measurements.




     Dr. Radford:  At the stack?




     Dr. Wolfe:  Yes.




     Dr. Radford:  I see.




     Dr. Wolfe:  We, of course,  monitor our personnel,  looking for




internal deposition of plutonium.   Of course, the measuring techniques for




this are very difficult,  because you are trying to measure low levels of




plutonium against a background.




     We estimate that about 350  man-years of work has been directly




connected with plutonium at Vallecitos.   We have had only one reportable

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 42
occurrence involving plutonium, and that consisted of a plastic bag being




torn from a block during maintenance operation, and contamination was




confined to that room.




     We essentially have had no measurable effects on any of the personnel




working at Vallecitos.




     Dr. Radford:  Do all the workers who are working with plutonium get




called for counting periodically?




     Dr. Wolfe:  Right.




     Dr. Radford:  The experience is that they have been close to back-




ground?




     Dr. Wolfe:  They have been close to background.  This is a case where




it is very difficult to measure.  I will tell you that we have had one




case where a new measuring technique came up and gave us a little bit of




concern.




     We then took these people and sent them to Los Alamos, where they had




more sophisticated information for measuring devices.  It turned out that




the original measurements had been incorrect.




     It is very difficult to make these measurements, as you know.




     Dr. Radford:  A question on the occupational part.




     How many workers overall have been exposed to plutonium, or at least




work with plutonium, during your 15 years?




     Dr. Wolfe:  The estimate I have here is about 350 man-years of work




has been directly connected with plutonium.




     The plutonium laboratory employs about 40 people.  That has been

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                                                                            43
going on for nine or ten years.




     Dr. Radford:  This is essentially a research operation.




     Dr. Wolfe:  That is correct.




     Dr. Radford:  I see.  Would you have any opinion about the ability of




other facilities that are more commercially oriented towards handling




plutonium?




     Dr. Wolfe:  I am not prepared to talk about existing facilities




other than to know that the government facilities have handled plutonium




in larger quantities than, of course, we have at Vallecitos.




     I do feel that there is no reason why properly designed and operated




facilities could not have the same good experience as we had in our




smaller facilities at Vallecitos, or that the government has had in their




operation of facilities.




     Mr. Trumbull:  I might also note that other commercial facilities are




subject to the same requirements that we are at Vallecitos, such as those




that are listed on pages 2 and 3 of the written testimony.  There are six




different types of requirements that all commercial facilities are




directed to meet.




     Dr. Radford:  That is the thrust of my question.  Do you believe




that, in fact, these commercial facilities have adhered in all instances




to federal regulations or state regulations as they apply?




     Dr. Wolfe:  Well, I read the papers, the way everyone else does.




For example,  to be very candid, I am just not prepared to discuss the




recent Kerr-McGee publicity.

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44
        I just have no idea whether there is anything to it or not.  I think




   the fact is that these facilities can be designed and operated safely, in




   accordance with government regulations.




        Experience indicates that in fact we have.  I see no reason why they




   cannot be and should not be.  I think that handling plutonium requires that




   one exercise diligence and care.




        I think the nuclear industry in general has exercised that care in




   the past.




        Dr. Radford:  Now specifically, you are aware that the Atomic Energy




   Commission required the Nuclear Fuel Service plant shut down?




        Dr. Wolfe:  Yes.




        Dr. Radford:  I am not saying over what issue, but certainly the




   issue being that there were breaches of their required containment.




        The General Electric Company was to embark on the fuel reprocessing




   business but are not now planning to, or are they?




        Dr. Wolfe:  We have a plant at Morris, which we are presently looking




   at in terms of trying to decide whether we should modify it and operate




   it in the future as a reprocessing plant or whether, in fact, the




   design deficiencies on that plant which were turned up during the pre-




   operational phases before there was any radioactive material in the plant,




   whether those design deficiencies are such that, in fact, it would not be




   a sound commercial venture to go ahead with that plant.




        I cannot answer you as to what the ultimate disposition of that plant




   will be.  I will, if you will allow me, make the following statement about

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                                                                            45
 that plant.




     The  technology  that we used on that plant resulted  in essentially




 no effluent release  to the environment, the exception to that being some




 krypton and some tritium, a small amount that was released through the




 stack.




     There was essentially no plutonium that was released.  There were no




 fission products.  They were all solidified, kept on site, stored, and




 would have been shipped to AEC facilities in accordance with regula-




 tions.




     We had a problem at Morris which involved just an industrial process




 of handling solid powders, which we encountered when we operated the




 plant with natural uranium.  It had nothing to do with radioactive fuel.




     We believe that the technology that we used at Morris in the fuel




 recovery  plant would be applicable to another facility which handles the




 product in a different way.




     In fact, that plant would have operated as a plant based on the same




 principle and will operate with essentially no effluent release and no ill




 effects to the public.




     Dr.  Radford:  That is all supposition, because the plant has never




operated?




     Dr. Wolfe:  That is correct.




     Dr. Radford:  Technology has not yet operated,  so that in terms of




the record we have at the present time,  we cannot really base it on that?




     Dr. Wolfe:  You certainly cannot use the Midwest Fuel Recovery Plant




as an example of an operating plant.

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46
         Dr.  Radford:   Just  a  couple  of  other  questions  here,  Dr.  Wolfe.




         You  stated  in  the cost-benefits study which  General Electric




    commissioned,  some  aspects of  the problem  of,  say, the  current light-water




    technology,  one  of  them  being,  after the year  2000,  the exploitation  of




    base  technology  would require  perhaps high energy as well  as  foreign




    exchange  costs in obtaining adequate fuel.




         Is that essentially correct?




         Dr.  Wolfe:  It is basically  correct.  What we did  was we  used AEG




    estimates of available uranium.   The AEG estimates require there is about




    two and a half million tons of uranium  in  concentrations above, say,  a




    hundred parts  of a  million.




         Thereafter, one would have to go to things like the Tennessee shales




    for concentrations  below 80 parts.   This would require  huge mining efforts




    and might have environmental effects that  would make it highly under-




    sirable.




         Dr.  Radford:   So that basically your  point,  I believe, was that  we




    are really here  talking  about  a breeder reactor program.




         In other  words, as  far as future developments are  concerned, it  is




    essentially  a  breeder based program,  correct?




         Dr.  Wolfe:  I  think when  you are talking  about  the end of the




    century,  hopefully  we are  talking about breeder programs.




         In the  interium period, I think plutonium recycle  would  have benefits




    to the nation  in terms of  augmenting the uranium  supply, providing time




    for the breeder  to  come  on.

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                                                                            47
     In that period, we do, as I say, have some foreign exchange problem.




     Dr. Radford:  One further question, with regard to the number of




millions of barrels of oil which are approximately consumed nowadays.




     In terms of foreign exchange improvements, I believe it has been




stated both by federal panels and others that if we have automobiles right




today that got 20 miles to a gallon, we could, with no change in the




numbers of automobiles operating, immediately eliminate all of our foreign




exchange losses.




     Do you agree with that?




     Dr. Wolfe:  I would like to answer that question in a more general




sense.




     I think there are a lot of things that the nation could do to take




care of its future energy supply.  In principle, some of them might be




more desirable forms of energy.




     Nuclear energy, I think, is beneficial to the nation.  It does have




potential problems connected with it.  It does have a problem of the




ultimate waste.




     So there are a number of alternates that one could talk about to




take care of the problem in a different way.




     Let me answer your question on automobiles, because I think that is a




short range problem.




     The fact of the matter is that the world is going to run out of oil




and fossil fuels, possibly by the end of the  century.   So the world is




going to be faced with surviving on a ever less amount of fossil fuels,




towards the end of the century.   In this country,  we have already — Now,

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48
   you can look at alternates.  The one I would like to mention is solar




   power.




        This is a wonderful source of power which, in principle, if you




   listen to the advocates, has no problems.  I think the problem with solar




   power-you know, several years ago when people were moving to California,




   Nevada put up a billboard on the boundary which said, "There is no




   California."




        The fact of the matter is there is no solar energy.   Solar energy is




   a dream.  I think it should be worked on.  I think we ought to go after it.




   But the fact of the matter is, nobody in this room today can describe to




   me a solar energy plant, what it looks like.




        Furthermore, the idea that the solar energy plant will not have




   hazards is, in my opinion, fallacious.  Depending upon how you approach




   it, you can have very hazardous conditions.   If you go out to space and




   you beam the power to the earth, slight malfunctions in the beam could




   wipe out large areas of the country.




        If you do it on land, you are talking about large areas of use which




   might have, for instance, climatic effects at least in a local sense.  I




   do not know that it will, but at least these are things that you have to




   look out for.




        A thousand megawatts solar plant would require about 40 square miles




   of area.  If you used today's solar cells, the average household electri-




   city bill would be about $50,000 a month.




        If you took the 40 square miles and found out how to construct that




   plant so that total cost of construction in terms of solar cells,

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                                                                            49
supporting structures and all the other electrical needs such as battery




storage, if that total construction could be brought down to the cost of




an industrial building on a square foot basis, you would be talking about




an electricity bill of about $5,000 a month in today's dollars.




     That is not to say we should not go after solar power, but the fact




is, it is not here today.  As I said, no one can tell me what it looks




like today.




     We do know how to make nuclear plants.  We have got breeder reactors.




They are operating.  It seems to me that we ought to follow the leads and




take advantage of what we have.




     At the very least, perhaps nuclear power in the breeder will provide




time to develop more desirable energy sources if, in fact, it can be




developed.  I hope they will be.




     Does that answer your question, in general, about the automobile?




     Dr. Radford:  More than answers.




     Dr. Mills:  Dr. Garner?




     Dr. Garner:  I am going to get Dr. Radford to change places with me,




because he stole my two questions.




     Let me pick up one of these points.




     If I were a member of the public, I would be extremely skeptical of




some of the things which you said.  After all, these people can read.




     They read about leakages of plutonium from commercial plants.  They




have heard about the recent Oklahoma incident.  True, the plant is not a




commercial plutonium separation plant, but in the last quarter report, we

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50
    read  of  the  release  per  year  over  the  last  two  years  or  so  of  curium,  not




    plutonlum.




         I think we  are  entitled  to be  a little  skeptical about  the efficiency




    of  present hold  up systems  and so  forth  for  plutonium in a  plant.   This




    is  not to decry  the  fact  that G.E.C. has been very  successful.   I  am




    merely saying  that given  the  best  of technology,  the  opportunity is




    there for plutonium  and  other materials  to be released to the  environment.




         We  have to  recognize this.  Now,  having said that,  I want to  go to




    another  point, because you  said you are  not  going to  comment on this.




         I was going to  ask  if  you would comment on it.   I entirely agree with




    you about some of the things  you said  about  solar energy.   It  is not with




    us  yet,  and  is nowhere near us yet.




         I do not  agree  with  your statement  about the effects of microwaves




    when  solar energy comes.  Perhaps  the, we will  have a hearing  like this




    to  discuss it.




         The fact  of the matter is, and I  would  like  to bring this out right




    early in these proceedings, we have two  alternative sources  of energy, two




    practical sources of energy:  fossil fuel that  we are all familiar with,




    and nuclear  energy which  we are on  the verge of.




         Unfortunately,  as in most cases,  we are holding  hearings  on




    basically the  health risks, I think is what  it  comes  down to,  of one




    particular form  of energy production,  that is nuclear energy production,




    and one  particular aspect of  it.




         We  are  considering  this  in total  isolation from  the risk  from

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                                                                            51
alternative sources.  I think everybody has to understand that every




source of energy has its risks.  Some of these risks are nowhere nearly




as well understood as the risks from plutonium and effluents from nuclear




power plants or fossil fuel plants.




     All I am saying is that things that are going to come out of this




hearing, we have got to remember that what we hear has to be taken in the




whole picture of energy production.




     Dr. Wolfe:  I could not agree more with that last statement.  Let me




just add one point to your comment, and Dr. Radford's, about releases from




nuclear plants.




     Plainly, I think you have to expect that on some occasions, things




are not going to work out exactly as you had hoped.  I think regulations




and experience have shown that you can design good plants, can operate




them, and that if you do, you can operate them well, and the risk to the




public is nil.




     I think on the other hand, even if you look at potential releases and




past experience on accidents, and measure the benefits versus the risks,




you will find that even on that basis, the benefits far outweigh the risks,




I think.




     That is the point to be made.  For example, the fast breeder study




that looked at nuclear reactors tried to assess this also.




     The gist of your comment is that it is not possible to do anything




perfectly.   I guess I would have to agree with that.  On the other hand,




I think the experience is that one can design and operate these plants




and the risk to the public is, in fact, negligible and less than the risk

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52
    which they normally are willing to undertake in their normal living.




         Dr. Mills:  Do you have any more, John?




         Dr. Garner:  No.




         Dr. Mills:  Dr. Taylor?




         Dr. Taylor:  I notice in several places in your written statement,




    you made reference to sound data, the need for more quantitative standards,




    and more sound data, and so on.




         You also made reference in several places to the fact that there is




    time to develop sound data or otherwise.




         I would like to ask your opinions about these two forms, but first




    comment that as you may know, the National Council of Radiation Pro-




    tection has under review ready for release, two reports on plutonium,




    one dealing with the hot particle problem specifically and one with the




    general problem.




         I am not prepared to say what the final recommendations in these




    reports will be except that they will say that there is no rush to do




    anything at the present time, even though we may want to make some small




    adjustments.




         I would like to hear some more discussion about the question about




    sound data, quantitative standards, if you care to.




         Dr. Wolfe:  Well, with respect to the time, as I just commented, I




    think I have indicated in the testimony that the radioactivity from ambient




    plutonium release is very low compared to what is naturally occurring,




    which I think is the basis for the statement that there is time.




         The concern that we have in the nuclear industry on the "sound"

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                                                                            53
statement, to answer your question more directly, is that if we had a




quantitative standard which was "sound," the inference is that standard




would be long enduring, and would have data in back of it, to answer the




legitimate questions of concern of the public.




     What we think would be perhaps worse than our present system of "as




low as practicable" would be a standard which was not sufficiently well




based, so that the standard would be periodically changed and then might




impact on very costly nuclear installations and practices, when, in fact,




it might not have to if we waited some time to allow for the accumulation




of necessary data.




     I do not know if I have said what you were looking for, or not.




     Dr. Taylor:  I think you probably have said as much as you can on




that.




     On page 3, you refer to .organ-man-rem dose.  I am not quite sure what




you are talking about when you talk about organ-man-rem dose.  In any case,




if you are talking about man-rem doses, to what extent do you include in




there the necessary dose rate and dose factors when you try to total up




man-rem?




     Dr. Wolfe:  The data presented here comes from an EPA report which is




referenced.  What the engineer did who developed these numbers was to take




the EPA estimates, multiply it by the population.  These were estimated




doses to the lung.  We multiplied it by the population and came up then




with that organ-man-rem number.




     It is just a plain multiplication, nothing sophisticated.




     Dr. Mills:  As you know,  there is no dose rate taken into account




here.

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54
        Dr.  Taylor:   That  is what  I wanted to bring out.




        Dr.  Mills:   There  are  no more questions.




        Dr.  Wolfe, we thank you very much for giving your opinions today,




        Dr.  Wolfe:   I am glad  for  the opportunity.

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                                                                            55
     Dr. Mills:  The next on the schedule is a panel from the Atomic




Industrial Forum.




     Is Mr. Deuster in the audience?  Dr. Sagan, Dr. Goldman, and




Dr. Parker?




     Mr. Deuster:  Dr. Mills, gentlemen of the panel, ladies and




gentlemen, my name is Ralph W. Deuster.  I am chairman of the Atomic




Industrial Forum's Nuclear Fuel Cycle Services Committee and president




of Nuclear Fuel Services, Inc., a subsidiary of Getty Oil.




     Before I go into my prepared testimony, I would like to make one




comment to Dr. Radford's previous statement that Nuclear Fuel Service




at West Valley plant was shut down.




     We voluntarily closed the plant because of no business in repro-




cessing at the time and because of our plans to make modifications which




require now the pursuit of a construction permit.




     We still have our license and are paying our annual fees.  That




is the official record on our facility.




     The Forum is a not-for-profit-membership association incorporated




in the state of New York.  It comprises some 625 corporate and institu-




tional members of the United States, as well as in some 25 countries,




all of which share a common interest in the development and application




of atomic energy for peaceful purposes.




     Because of the diversity of its members which include facilities,




manufacturing companies, universities, labor unions, professional firms,




financial institutions, government organizations, and other profit and




non-profit entities,  the Forum as a matter of policy does not take

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56
  independent positions on matters pending before the Congress or pend-




  ing before other public interest and quasi-judicial bodies, such as




  this Board.




       However, whenever possible, we do make an effort to identify




  relevant technical and legal policy considerations and provide a




  mechanism for determining and articulating the views of our various




  members.




       Accompanying me today are Dr. Leonard Sagan of the Palo Alto




  Medical Clinic; Dr. Marvin Goldman of the University of California at




  Davis, California; Mr. Herbert Parker, a consultant from Richmond,




  Washington; Mr. Emmanuel Gordon, a nuclear fuel and financial projects




  manager of the Forum; Mr. Marvin Fertell, environmental projects




  manager of the Forum; and Mr. Harvey Price, Washington counsel of the




  Forum.




       These people are all here under Forum sponsorship in addition to




  myself, you will hear from Messrs. Sagan, Goldman and Parker.




       Dr. Sagan will speak on the criteria for limit setting.  Dr. Goldman




  will speak on the empirical approach to plutonium toxicity.  Mr. Parker




  will speak on plutonium limits.




       Each of these persons will express his independent viewpoint.




       We are pleased to have this opportunity to participate in this




  hearing which was called to evaluate the impact on the environment of




  plutonium and other transuranic elements.




       We agree with the approach taken by the AEC that this study be

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                                                                            57
made prior to attempting to set new guidelines or standards for these




materials.




     Speaking as a fuel cycle representative whose business is concerned




with plutonium and the transuranics, I believe that the immense body of




work done by the AEG and others in prior years and currently has pro-




vided regulations and guidelines for the fuel cycle industry to protect




the public adequately.




     We believe the record so shows this.  We therefore recommend that




EPA give serious consideration to accepting the current limits and




guidelines as established by the AEC as adequately protecting the public.




     I am sure you are all aware that plutonium is a natural product of




power reactor operations.  In fact, in current water reactors, the plu-




tonium generated in the reactor produces a significant portion of the




energy output.




     U. S. reactors use enriched uranium fuel, and reactor operators




have always planned to reprocess spent fuel and to recycle the uranium




and the plutonium.  For economic reasons, we strongly recommend that in




your considerations, you give great weight to the importance of recy-




cling plutonium in light-water reactors.




     Projected fuel cycle economics are as favorable as they are, partly




because of the anticipated use of recycled plutonium.  Not using plu—




tonium will result in the need for more U. S. enrichment capacity.




There is more involved,  however, than not utilizing plutonium.




     It is highly likely that without the economic benefits derived

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58
   from the recycle of plutonium, there would not be sufficient incentive




   to operate reprocessing plants, and therefore, enriched uranium would




   not be recovered from spent fuel.




        Together with the plutonium, this would increase the need for




   yellow cake, uranium raw material, by about 20% annually, and for sep-




   ative work from the enrichment plants by approximately equivalent




   amounts.




        Put another way, failure to use plutonium then would lead to




   significant fuel cost increases which must be borne by the general




   public.




        Also, failure to use plutonium which implies neither reprocessing




   nor recycle would bring the breeder program to an end and would fore-




   close on an energy course already in hand, having an energy equivalence




   greater than known coal, gas and oil reserves combined.




        The Nuclear Fuel Cycle Services Committee, of which I am chairman,




   recently submitted two sets of comments to the Secretary of the AEC,




   both of which bear on the subject of this hearing.




        They have been submitted to Dr. Burley.  They are comments on the




   AEC's draft environmental impact statement, entitled "Management of




   Commercial High Level and Transuranium Contaminated Radioactive Wastes"




   known as WASH 1539, and the proposed amendments to 10 CFR and 10 CFR 50




   concerning transuranium waste disposal.




        These were submitted on October 25, 1974.




        We also submitted comments on the draft, "Generic Environmental

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                                                                            59
Statement on the Use of Plutonium and Mixed Oxide Fuel in Light-Water




Reactors" known as WASH 1327, and also as GESMO.




     Those comments were submitted on October 28, 1974.  The GESMO




deals comprehensively with plutonium and its application as a mixed




oxide fuel in light-water reactor fuel cycle.  We request that you




include these two statements in this hearing record and in your sub-




sequent considerations.




     We also hope that the EPA would consider, when setting standards




on plutonium and other transuranium elements that such standards be




based at levels that evolve from cost-benefit analyses.




     The imposition of unnecessarily restrictive levels will have the




inevitable consequence of placing undue burdens both financially and




operationally on nuclear reactors and the supporting industry, which




burden would ultimately fall on 'the American people and the national




economy.




     This concludes my statement.




     For the remainder of the presentation, you will hear from Messrs.




Sagan, Goldman and Parker, with Dr. Sagan being our next speaker.




     Thank you for this opportunity to express our views.




     Dr. Mills:  Thank you, Mr. Deuster.




     I would suggest that we go through the remarks and then entertain




questions.




     Dr. Sagan:  My name is Leonard Sagan.   I am a physician from




Calfornia.  I have an interest in human radiation effects.

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     I have worked in Japan among survivors of the atomic bombing.  I




have an interest in government regulations on radiation exposures.  I




have worked for the Atomic Energy Commission for a short period of time.




     I have done some studies on health effects associated with nuclear




power plants and also some studies of health effects associated with




coal burning power plants.




     In view of that experience, I would like to make some comments




about how government goes about regulating the emissions and will make




a proposal for an emission tax for plutonium.




     If you will bear with me for just a few minutes, I would like to




express just a personal view about how we as a society appear to approach




societal problems, and I would like to emphasize that these are purely




my own views.  They do not reflect the views of the Forum or perhaps of




anybody else.




     If one reviews the past few years' experience, one sees a consistent




pattern of crises generated or at least fostered by the media.  Typi-




cally, the crisis is often followed by hasty and sometimes ill-considered




government reactions.




     We first had an environmental crisis, followed by an energy crisis.




Now we seem to have a food crisis, or I am told that some people think




we have a plutonium crisis.




     By that I do not mean to suggest that in these examples that I




have mentioned there are not genuine problems.  On the contrary, I am




certain that each of these I have mentioned does contain a problem.

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                                                                            61
     But what I would deny is that each of these is a crisis that




suddenly appears in the first year that it is brought to public




attention.  Rather, each of these, in my view, is a result of longterm




historical forces.  Each of these announcements of a crisis is typi-




cally followed by the hectic convening of experts who fly to Washington




meetings.




     This is followed shortly by the promulgation of new regulations




or legislation, much of which is hastily conceived and in the long




run, in my opinion, counterproductive to the public welfare.




     One is also likely to see a proliferation of lapel buttons and




bumper stickers urging simplistic and equally ill conceived solutions.




     I bring this up and reflect on this this morning because I want




to express my hope that EPA is not going to follow such a course with




respect to plutonium.  In all candor, however, I must admit that there




are aspects of this meeting that give me some misgivings and about which




I would like to comment.




     For example, this is announced as a public hearing "to determine




the adequacy of current guidelines for plutonium," I am quoting from




the Federal Register," and the other transuranic elements in develop-




ing any new standards if deemed necessary."




     If that were the objective, then why a hearing panel of scientists?




Since standards require totals of the social and political nature, why




should there not be economists,  social scientists,  union and management




representatives, as well as representatives of all segments of society?

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62
        Questions surrounding the use of plutonium could go to the heart




   of the kind of society that we want, and everyone, not only radio-




   biologists, should have a voice in that decision,  in my view.




        On the other hand, the Federal Register announcement to this




   meeting, in explaining the details of the meeting, suggests that the




   agenda is to be highly technical.  We are asked, for instance, to




   supply the panel with information such as theoretical models developed




   to predict transport to the ecosystem, highly technical material.




        If the intent is to gather technical information from which




   standards should be derived, then why are we having a public hearing?




   Is a public hearing, I would ask, the appropriate forum in which to




   gather and appraise scientific information?




        I would have preferred an approach such as that chosen by the




   BEIR Committee as far more appropriate for that purpose, the gather-




   ing of scientific information.




        I would like to add, parenthetically, since I have this opportunity,




   to offer the complaint that the BEIR report was never circulated for




   public comment.




        In my view, we do not have a plutonium crisis.  I will not go over




   the reasons for that opinion in detail.  Some have already been mentioned




   by Dr. Rowe this morning.  For the past 30 years or so, there has been




   extensive experimentation with plutonium.




        So far, no cancer has as yet been attributed to plutonium exposure.




   I would echo a comment made earlier that we do probably have better data

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                                                                            63
with which to understand the toxicity of plutonium than we do for the




vast majority of other carcinogenic agents.




     I then have in this written testimony a good deal of material about




plutonium toxicity, but I see there are so many other people on this




program, so much more expert than I, that I am going to skip over that




and get to the material that I have a greater interest in.




     Whereas, as I have just said, I do not consider there is any




particular urgency regarding the development of new plutonium standards,




I do feel that there is an urgent need for broad consideration of the




nature of the standards themselves.




     Over the past several years, we have witnessed widespread




disagreement about the nature and function of standards.




     There is, first all, the argument whether standards should be




based on health effects or on the basis of economic and technological




feasibilities.  We have heard some allusion to that conflict in the




questionning already this morning.




     There has also been dispute regarding whether or not health effects




can be demonstrated at the exposure levels permitted by standards.




     All of you, I am certain, are aware of the present conflict with




respect to auto emission standards and whether they are too stringent




or should be relaxed.  Frequently, the data, as in that case, simply




is not adequate to resolve these conflicts.




     In my opinion, there are a number of other problems associated




with inflexible exposure standards.  Number one, standards are in effect

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64
   permissible  levels of pollution.




         They  invite engineers, operators, to pollute to whatever level is




   allowed.   There are no  economic incentives to reduce the emissions below




   permissible  levels.  There may be moral incentives, as was pointed out




   by Dr.  First, but in our society, moral compunctions are not nearly so




   effective  as economic.




         There is little incentive to create or purchase new pollution




   control technology, nor is there the flexibility to incorporate newer




   knowledge  of toxicity which might modify standards in either direction.




         Thirdly, standards are arbitrary.  The argument to the linear dose




   response curve to attack any standard as arbitrary, as insensitive to




   health  effects.  Agencies have characteristically great difficulty in




   justifying and defending standards which are not based on demonstrated




   health  effects.




         The ability to achieve risk estimates for radiation exposure allows




   a new approach, I believe, to standard setting.  My own preference, as




   I indicated  in the very beginning, is for a tax emissions.




         I  would like to spend a few moments discussing how I see that




   with respect to plutionium.




         A  tax emissions is not by any means my own creation.  It is a




   proposal that has been  made frequently and recently by a number of




   economists.




         An emission tax avoids many of the problems already mentioned




   above and  is compatible with the currently accepted concept of a linear

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                                                                            65
relationship in dose response.  I would foresee that a tax should be




linear.




     A tax would be assessed for even the smallest of emissions and so




would provide an incentive for reduction of even these smallest emissions.




A tax would not be incompatible with standards, however, as a maximum.




     However, if one wished, such a tax might work in the following way:




Some estimate would be established of the relationship between a curie




of release and its ultimate health effect.




     Our legal apparatus has long experience in assigning monitary




values for health effects.  This experience could be exploited to




establish the monitary value associated with the health effects of




released radionuclides which would incorporate knowledge of environ-




mental transport to the human metabolism and carcinogenesis.




     In this way, the emission tax would satisfy the requirement that




environmental control be related to health needs.  Management in re-




sponse would make careful assessment of the cost of reducing emissions




and would optimize at the lowest level of emissions compatible with




currently available emission control equipment, thereby satisfying the




need for economic and technologic feasibility.




     An emission tax is clearly experimental, both for government and




industry.  The only example known to me is the example of its use in




controlling emissions into the Rhine River where it is said to have




been very effectively used.




     I believe that plutonium is a particularly appropriate substance




from which to gain experience,  if this need be, for an emission tax,

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66
   since the sources for plutonium release will be very few.




        Record keeping and surveillance will be rigid and releases easily




   detected.  My preference would be to compute an emissions  tax,  or call




   it an emissions penalty if you like, on the resultant human exposure




   rather than on the absolute quantity emitted.




        For example, a tax would be considerably less in a sparsely




   populated area than in a densely populated area.  The effect,  then,




   would be to provide an economic incentive to locate such a facility




   in remote areas.




        I would also insist that the penalty apply to occupational as




   well as to public exposure outside the facility.




        There is another advantage to tax emissions that I should like  to




   mention briefly.   As I have spoken to people about pollution and health




   over the years, I have found there is a. widespread implicit assumption




   that thresholds do exist,  that through scientific investigation these




   thresholds can be determined.




        The public wants to know generally, whether it is air, food or




   water, they want to know is it safe or not?  The question  implies a




   threshold.




        In my own opinion, such questions can rarely be answered with any




   certainty or precision now or in the future.




        An emissions tax emphasizes the absence of an easily  definable




   threshold level.   Inflexible standards for environmental emissions




   reinforce the common misconception regarding absolute levels of safety.

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                                                                            67
     In summary, then, I see no threat to the public health in current




use of plutonium that requires urgent regulatory intervention.  I do




feel that the effect of widespread dissatisfaction with the use of




inflexible standards is such as to justify fundamental review of the




standard setting process as a means of controlling the environment.




     In my opinion, the Environmental Protection Agency should give




serious thought to more flexible means of control, such as that offered




by an emissions tax.  Such consideration should be a collaborative




effort with representatives of all sectors of society and not solely




the effort of scientists.




     I believe the characteristics of plutonium production and toxicity




recommend it as an excellent starting point from which to organize this




new regulatory frontier.




     Thank you.




     Dr. Goldman:  I am Marvin Goldman, Professor of Radiobiology at




the University of California.  I have been involved in problems relating




to the biomedical effects of radionuclides in all of my scientific




career.




     I would like to try and present a few comments today to put into




perspective some views that I have with respect to plutonium as a




radionuclide, and how it fits into our overall biomedical world, as




it were.




     These are my own comments and do not represent necessarily the




views of anyone else here.




     I feel that with the publicity and comments that keep cropping up

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68
   with respect to plutonium,  is  it  presumptuous  for  me  to  perhaps  sit




   back from it a few feet and see what  we  know about it and  how it fits




   into what we know about biomedical  science  and the effects of radiation,




   from an empirical approach.




        Is there something unique, is  there some  mystique or  some violation




   of the natural laws of physics, chemistry or biology  intended to plu-




   tonium that requires a special and  separate consideration  from that




   which accompanied the evolution of  our knowledge with regard  to  radio-




   nuclides?




        In summary,  I do not believe this is so.   As  you all  know,  and I




   suspect we will hear quite  a bit  of it in the  next few days,  there is




   considerable discussion of  the internal  emitters.   The scientists with




   whom I associate usually categorize one  another as lumpers or splitters.




        I may try to lump today and  in so doing,  I may omit or condense




   or perhaps compromise some  of  the technical information, but  I think




   it is important,  perhaps, to get  the  overall pattern  of  information




   into focus and then to evolve  questions  regarding  the lack of specific




   information and the applicability of  existing  information.




        We live in a radioactive  world.  A  lot comes  from the soil  which




   has several disintegrations per minute in every gram  on  this  planet.




   Much of this is alpha activity from the  decay  of uranium and  radium.




   Therefore, there is no such thing in  my  view as zero.




        We will start with that point.  Plutonium is  another  alpha  emitter.




   It has about the same kind  of  energy  as  do  these other natural radio-

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                                                                           69
nuclides and we have found that plutonium has probably been present




in microscopic quantities in this planet since its formation.




     We have more of it now, and that seems to be the crux of




consideration.  It has a very long life, but so do radium and uranium,




and we know a lot about some of these other nuclides as well.




     In nature, it is my opinion, that plutonium and the other trans-




uranium elements such as americium and curium appear to me, on the basis




of the information I have evaluated, and I certainly cannot say that I




have seen everything that has been printed or written about it, this is




my impression:  It appears to me that it moves more slowly and less




efficiently and effectively than other elements in the surface of this




planet.




     When it is very dilute and particulate, plutonium appears to age,




such that it forms a non-radioactive aggregate, particles which even




further slow down its movement and maybe enlarge the effective particle




size.




     This may render an increasing fraction of surface plutonium, as




it were, that is, non respirable.  Often it is the manufacture of plu-




tonium compounds that can get into the deep lung,  that position problem,




that is of concern.




     Thus, it would appear that with increasing time, whatever the




concentration or content of plutonium, based on some of the information




to which I had access,  this appears to,  in a sense,  become diluted and




buries itself and becomes less and less  environmentally available; as

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70
  a  quantitative observation which I think has some substantiation in




  fact.




       Now,  the amount of plutonium that I think may be air borne




  from soil  deposition is characterized in many ways by a whole science




  of atmospheric dynamics and solar chemistry in arriving at chemical




  and physical factors, much of which I do not propose to tell you I am




  an expert  in, but which experts summarize a kind of ratio or factor or




  resuspension ratio, which somehow relates to concentration in the air




  to the  concentration on the surface of that plutonium, and therefore,




  gives a crude indication of the amount of the soil bound plutonium




  that might be air borne.




       These numbers have a variety of physical factors in them.  Usually,




  the ones I have seen are in terms of the microcuries of plutonium per




  unit volume of air, to the microcuries on the surface of the soil below.




  These ratios, in my view, are exceedingly small numbers.




       It is something of the order, 1CT7 or 10~10 units of microcuries




  per gram.  Perhaps much of this is in the form of non-respirable aggre-




  gates and  that perhaps with increasing time, all other things being




  equal,  (and maybe we could generalize a bit) that fraction gets even




  smaller and smaller.




       The thing I have spent many an agonizing year and night recently




  over has to do with the assessment of health consequences when the




  factors in molecular event that relate to all of those things that




  occur following the deposition of a packet of radiation in energy in

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                                                                            71
the biological system, and the ultimate appearance of some deleterious




effects some time down the road.




     These facts and details are necessary.  They may never be available




to us.  But that does not mean that we do not know something about the




toxicity of radio elements such as plutonium.




     Although I understand some accidential exposures have occurred




from the literature that I have had available to me, I believe that no




health effects from plutonium exposures have been seen in man.  Thus our




knowledge on plutonium health effects primarily is data based on animal




studies in laboratories.




     Following the ingestion of plutonium, it is apparently not very




effectively or efficiently absorbed into the body relative to the




elements such as potassium or radium.




     I estimate on the basis of the data I have reviewed that this




fraction absorbed might be of the order of 1/100,000 of that which is




ingested.  Perhaps for elements in insoluble form, such as americium,




it might be 1/1,000, which is quite similar to natural radium uptake




percentages.




     Following inhalation,  acute exposures result in something of the




order of 1/5 of the inhaled deep lung fraction retained as what some




call an initial lung burden.  I am sure you will hear from people far




more knowledgeable on that.




     The toxic quality, when this amount is very large, as with any




radionuclides study in toxic effects, effects may become manifest in

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72
   the  case of  the lung as cancerous.  For plutonium, the empiric ratio




   that I  seem  to be able to derive  from experimental data that has been




   published might suggest that it is about ten times worse than for




   chronic exposure to x-rays, gamma rayss or beta particles emitting




   radionuclides also deposited in the deep lung of experimental animals.




        What I  am trying to say is that the absorbed radiation dose ratios




   of effects differ by about a factor of 10 over much of the body of




   experimental data that we have.  As the dose diminishes, it may be  that




   the  ratio, the beta gamma type effect, also diminishes.




        Now, as to the dose distribution from inhaled plutonium particulates,




   all  the animal studies that I know of in this country and abroad, most




   of the ones  abroad I think are not funded by the same agency that funds




   the  ones here, do seem to support a rather conservative assessment.




        The more uniformly the radioactivity is distributed, whether it




   be in lung or bone or liver or total body, the more effective that




   given radiation dose is.




        The more non-uniformly the particulates are, the less effective is




   the  burden in reducing the effects of concern.




        In my view, plutonium is not uniquely or mysteriously toxic, but




   it appears to follow fairly predictable and well studied radiobiologic




   principles relative to a uniform  x-ray or beta ray dose, plutonium




   appears to be about ten times more effective in producing tumors in




   experimental animals, with the absorbed radiation dose in rems used in




   the  comparison.

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                                                                            73
     Thus, without any specific knowledge of the sequence of events,




from alpha particle absorption to tumor appearance, one can use the




empiric observation in animal experiments to independently assess plu-




tonium toxicity, and by comparison with other radiation experience in




man can arrive at a realistic assessment of possible plutonium effects,




realizing of course, as in most biological experiments performed in




laboratories, precision and accuracy may have something to do with




factors of two or three of uncertainty, but not many orders of




magnitude.




     In our laboratory, we have a sign that says, "The animal is always




right."  Our job is to get the message that the experimental animal is




trying to tell us.




     While all of our questions about plutonium are not yet answered,




the available information on plutonium toxicity derived over the last




30 years provides an impressive spectrum of important information.




     You probably know more about the relative toxicity of plutonium




than for any other agent; in my opinion,  the toxicity, following in-




corporation into the body, is in no way uniquely strange, or different.




It follows certain general radiobiologic generalizations.




     The first of these is that the effects appear to depend upon




distribution of the radionuclides and its characteristic, whether it




is an alpha, beta or gamma emitter, whether the emitted radiation energy




is uniformly or non-uniformly distributed amongst the cells at risk.




     Secondly, the dose rate for radionuclides is generally protracted

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74
   rather  than acute  and  Is  continually  changing rather  than constant.




        Thus,  the  dose  rate  relationship  from  internally deposited  radio-




   nuclides  requires  consideration not only of  the  total radiation  absorbed




   dose, but of the dose  rate  pattern by  which  it is acquired.




        Thirdly, plutoniura as  well as the other radionuclides has its




   site  of effects only on those  cells which are irradiated and radio




   induced tumors  are usually  found in tissues  in which  cellular injury




   has been  seen and  tissue  injury as well.




        Fourthly,  for low and  intermediate radiation dose patterns,  the




   major end point has  been  tumorogenesis, which appears to account  entirely




   for any of  the  life  shortening observed in  these experiments with animals.




        At very high  levels, administered radioactivity, life shortening




   may be  quite marked  and not solely due to tumorogenesis; while at




   exceedingly low levels of radiation,  in which tumorogenesis is rare or




   absent, no  life shortening  effect is  observed relative to comparable




   unirradiated populations.




        There  appear  to be no  unique hazards from elements such as  plutonium,




   which are apparent when the dosage pattern  is comparable to the  exposure




   to x  or gamma radiation,  if external.




        With regard to  the particular effects,  it is significant to  me




   that  dose effect occurs with beta gamma emitters; alpha emitters  follow




   a qualitatively parallel  pattern regardless  of the non-uniform distri-




   bution  of alpha dose.




        The  mean rad  dose ratio for beta-gamma  effects studies versus alpha




   emitters  for a  comparable tumor incidence range  only  between the  factor

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                                                                            75
of about 5 and 20.  No assumption regarding the carcinogenicity of




individual particulates are needed or implied.




     A comparison with a relative, uniform beta gamma radiation in the




lung, for example, with non-uniform alpha radiation can be derived solely




from the toxicity data.  I think it is important to recognize that the




appropriate models needed to describe the complete sequence of events




leading to cancer are, in my opinion, of secondary importance to a




valid determination of the relative toxicity of the two radiations.




     This, in my view, is the most fundamental criteria in hazard




assessment.




     In conclusion, I feel I would like to share these views with you.




On the basis of the two decades that we are worried about; these internal




emitters, I do not personally find anything unique, mysterious, strange




or in violation of the physical and biological laws that I have learned




that are associated with plutonium.




     We do have a particulate exposure.  There are some quantitative




differences, but in a qualitative sense, I do not believe, as




Dr. Sagan said, there is necessarily a plutonium crisis.




     I hope the assessment of this will more or less be put back




into perspective.




     Thank you.




     Dr. Mills:  Thank you,  Dr.  Goldman.




     Dr. Parker.




     Dr. Parker:  My name is H.  M. Parker and I have been connected

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76
  in some form with plutonium limits  since the early days  of  the Plu-




  tonium Project.




       My notes,  if useful to the panel and the agency,  will  give




  reference to some of those early limits.  What I  would like to do this




  morning is to use material that arose at a symposium at  the Los Alamos




  scientific laboratory in May of this  year under the topic of "Plutonium:




  Health Implications for Man" in which I asked to  summarize  the issues




  as I saw them.




       I understand that this material  is to be published  in  the journal,




  Health Physics.   I recommend your attention to that.   I  propose to use




  essentially the same material here.




       It will come out as a very random collection of  six comments with




  no intended thesis threading its way  through those comments.




       Number one:   It is titled "Plutonium - the most  toxic  element




  known to man?"   It says here the health physicists of  the Plutonium




  Project had the task of rapidly developing a respect  for plutonium in




  some hundreds of  scientists, technicians and operators.




       They did it  mainly by drawing  parallels with the  experience with




  radium, and by  describing plutonium as one of the most toxic elements




  known to man.  That statement, I think, tended to be converted to the




  absolute form,  the most toxic; and  I  think became one  more  tool to




  encourage possible emotional reaction against the possible  environmental




  release of plutonium.

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                                                                            77
     As measured by actual experience to date in man, the statement I




think can be called preposterous.  A recent bulletin of the National




Radiological Protection Board of Great Britain speaks somewhat to this




point.




     With currently accepted permissible limits, it draws the conclusions,




skipping some finer points, that plutonium on a mass basis is 400 times




less toxic than iodine 131, 16 times more toxic than tritium as tri-




tiated water for inhalation, and some 200 times less toxic than tri-




tiated water for ingestion.




     I think this is to some degree game playing, but I would perhaps




suggest if I may be so bold to the Agency that a balanced agency state-




ment on the toxicity of plutonium relative to other materials would be




helpful to all of us.




     Point number two is entitled "Relative reliance on human data and




animal data."  If quantitative data on the effects of exposure of man




exist, they would clearly be the data of choice.




     Where they are diffuse and scanty, as in the somatic aspects of




general radiation exposure of man,  the present interpretations tend




to depend more on plausible theory than on demonstrated fact.




     In the very valuable NAS-BEIR Report, the emphasis on linearity




between effect and dose is more a matter of prudence than demonstration.




     Some observers, including this one, believe that the relevant




animal data sometimes tend to show non-linear dependence on dose, at




least for some of the biological end points.

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78
          For  the  specific  case  of plutonium, we must at this  time use  the




     animal  data since human data are virtually non-existent.  Two clear




     areas that need research  seem to come  from this.




          Number one, for the  animal data,  to review periodically the esti-




     mated shape of the  dose-effect curves, especially for the very low doses




     expected  in environmental exposure and acknowledging possible differences




     for  different biological  end points.




          Number two, for the  human data, to extract what information may




     become  available in such  mechanisms as the U. S. Transuranium Registry




     and  the Mancuso study  of  atomic energy workers.




          Here, I  think  it  must  be accepted that persuasive evidence on




     either  of these is  much more likely to come by decades than by single




     years.  I recall that  this  is for the  occupation case.  Direct informa-




     tion for  the  environmental  case does not seem likely to be valid in a




     reasonable timespan.




          I  would  suggest that such a very  arbitrary device as commitment




     now  to  a  formal national  five year review plan of these data could offer




     significant benefits for  orderly improvements of environmental limits




     from time to  time.




          Point number three is  the "hot particle problem."  Let me say if




     I may that I  excluded  this  from the Los Alamos review on  the fairness




     doctrine  that representatives of one rather novel posture were not




     present at that meeting.




          So here  I would like to make only a side observation that concern

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                                                                             79
for various aspects of the hot particle problem, not specifically plu-




tonium hot particles, dates back in my experience to at least 1944.




     I have previously documented concern that a single hot particle




in the lung may generate a tumor that would not have arisen from the




same activity in distributed form.  I shall continue part of that con-




cern until I feel that we really understand the various environmental




factors that go into the initiation, promotion or proliferation of a




viable tumor in man.




     For the present, however, I believe that the data presented in




such documents as WASH 1320 which I am sure will be coming later in




this hearing are more persuasive than the contrary views.




     To oversimplify, hot particles can clearly be more hazardous than




depositions if there is either a threshold dose or some form of a




sigmoidal effect curve with respect to carcinogenesis.




     If total linearity is accepted, as in the BEIR Report, it seems




plausible that hot particles will waste some of their activity in




killing some of the adjacent cells that need only have been damaged.




     However, as a very personal opinion, I would expect that plutonium




limits should be lowered, and lowered now, by about one order of magni-




tude.  I base this on hearing Dr. R. C. Thompson's review of the animal




data as defended at Los Alamos, and in the timing of this meeting, I




expected that it would already have been presented to you, Dr. Mills,




but it will, I am sure.




     This,  to me,  with some allowance for uncertainties in both




symmetries, seems  to say that absorbed doses of some few tens of rads —

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80
  let me make it that indefinite, if I may — some few tens of rads do




  indeed give demonstrable yields in various animals.




       Conventional permissible dose in man permits the accumulation of




  a somewhat light dose throughout an occupational lifetime.   That does




  not reflect the conservatism that we have generally felt would apply




  to  high radiation limits.




       Some fear, again a very personal fear, that limit reduction of




  this kind will be resisted  because we could no longer then measure




  so-called permissible lung  burden by external means.




       That, of course, would suggest a clear area of research to improve




  that sensitivity by a factor of about a thousand which, unfortunately,




  I think is impossible.  It  would be most helpful.




       For EPA purposes, this particular inhibition fortunately will not




  affect your wise decision because you are way below the possibility of




  doing this during life in the human.




       Let me inflict point number four on you at this time.   That is




  called the "indifference level."  Industry will expect to have high




  standards to minimize plutonium releases from their facilities and to




  transfer principal radioactive wastes to carefully designed, federal




  engineered storage or other ultimate disposal.




       A continually growing  problem remains with the disposal of




  relatively large volumes of relatively low activity waste.   For this,




  some agreed indifference level of residual activity level is needed.




       Conceivably, one might have rather a series of such levels,

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                                                                            81
accounting for possible transfers to the public domain from working




materials, mostly pieces of paper that may not have remaining elements




of plutonium on them, from the clothing of workers, from the skin of




workers, and mechanisms that will be obvious, from the emissions from




the internal contamination of workers, all of which will put some amount




of plutonium into the environment.




     It will be a major contribution if we could achieve a consensus




for a basis for such a level or levels, if that is the way it turns




out.  Should it be set relative to natural alpha contamination, as pro-




posed by some, reflecting the existing weapons plutonium contamination




which to all intents and purposes in our background would tend to remove




that, or on some other more sophisticated basis?  I offer no solution.




I hope intention to that decision will loom large in the efforts of the




agency.




     Point number five:  This has to do with the funny behavior of




"The isotopes of plutonium and the transplutonium elements."




     The apparent matabolic behavior of two such nuclides as plutonium




238 and plutonium 239 is, in the laboratory, often markedly different




for two reasons, partly because the mass used for normal experimentation




is different.  You choose an expert, and where you have a measurable




activity, separate what mass goes with that — and partly because, or




so it seems, the intense bombardment near the shorter lived source may




produce what you might call local chemistry, which certainly changes




the behavior, allegedly of insoluble particles such as plutonium oxide

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82
   in  the  lung.




       Now,  environmentaml research, which you seek answers, needs  to




   be  based on transfers of very small masses.  These are best measured




   if  you  go  at  it experimentally by one of the short life nuclides,




   although in nature  I presume plutonium 239 will remain the main real




   contaminant.




       Another  problem in the general area of these mixed up isotopes




   is  that the radiobiological studies, normally conducted with one  nuclide




   at  a time, the experimental thing to do, may or may not, more likely




   not, permit reliable deduction of the effects of the expected mixtures




   to  be used in the developing nuclear industry.




       Those mixtures eventually in low degree will invade the public




   domain.  So a program to study the environmental and radiobiological




   behavior of one or  two representative mixtures, reasonably from the




   advance light-water reactor and LMFBR systems should be considered at




   this time, we suggest.




       My final point, Mr. Chairman, is entitled "Mixed oxides."  It




   maintains  that the probable nuclear economy for the next one or two




   decades is predominantly a mixed uranium and plutonium oxide fuel




   economy.




       As an extension of the previous section, knowing what plutonium




   can do, we very much need to know the real environmental and radio-




   biological behavior of actual mixed oxides, which does not seem to




   have been  worked on to any extent.

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                                                                            83
     One would expect some pencil and paper work, in the ordinary way,




that the hazard from this mixed oxide particle would fall well below




that of plutonium alone; as with so many of the cases here, you can




visualize some conditions that would lead to the contrary result, I




think the knowledge is most important to the ultimate welfare.




     Also, I believe that variations of behavior with time, which




Dr. Goldman mentioned, plutonium may change its behavior with time.




In this case, it may change in a very different pattern and is one of




the channels through which one could conceive a growth of hazards




through time with immunition.




     Above all in directly recommending studies of this nature, I




would consider it essential that it be done in two forms.  Study the




behavior of mechanically mixed oxides, those turned through the years,




and begin the work now with chemically precipitated mixtures which may




be different in their behavior upon release and the ultimate industry




choice of these two forms may not yet have been determined.




     Something quite unrelated to our health hazards may be the




determinant of that because you could make a proposition that the




economy which continually has only co-precipitated mixed oxides would




be very much safer from the diversionary attach point of view which I




believe is unrelated to our endeavors here.




     Mr. Chairman, thank you.




     Dr. Mills:   Thank you very much, Dr. Parker, for some very




constructive comments.

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   84
 tomic Industrinl.Forum, Inc.
475 Park Avenue South
New York. New York 1001&
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    r
                            October 25,  1974
Secretary of  the  Commission
U.S. Atomic Energy Commission
Washington, D.C.   20545

Subject:  Comments on Draft  Environmental  Impact Statement
          "Management of Commercial  High Level and Transuranium-
          Contaminated  Radioactive Wastes,"  WASH-1539,  and
          Proposed Amendments  to  10  CFR 20 and 10 CFR 150
          Concerning Transuranic  Waste Disposal
Dear Sir:

     The comments herein were prepared  by  the  Subcommittee on
Radioactive Waste of the Atomic  Industrial Forum's  Committee on
Nuclear Fuel Cycle Services and  are  submitted  in  response to
Federal Register notices of September 12,  1974.   A  list of the
subcommittee members is attached hereto.

     We endorse the concept of the U.S. Atomic Energy Commission
that it take physical possession of  and assume permanent responsi-
bility for both the high level radioactive waste  generated from
the aqueous recovery of spent nuclear fuel and transuranium-
contaminated radioactive wastes.  Further,  the Commission's intent
to provide interim retrievable surface  storage of radioactive high
level waste is endorsed as the logical  interim step.   The committee
believes that any of the three alternate interim  retrievable surface
storage systems described in WASH-1539  is  adequate "from the stand-
point of reliability and for the protection of public health and
safety for generations to come.

     The draft states that the AEC will continue  its  efforts to
establish a permanent disposal system for  high level  radioactive
wastes based on placement in geologic formations.   It is the sub-
committee's opinion that such ultimate  disposal techniques should
be defined as soon as possible.

     In determining the preferred location for a  surface storage
waste facility (or facilities) for both types  of  waste,  the Coinnis-
sion should give consideration to the cost of  transportation from

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 Secretary  of  the Commission                                        "
 October  25, 1974
 Page  2


 the generation  sites  to  the  interim  facilities as well as  the
 cost  of  transportation from  the interim  facilities to a permanent
 disposal site.  We also  recommend that the AEG accept title to the
 wastes at  the earliest possible date  following their conversion to
 an acceptable form and that  waste form and the interim storage
 concept  be based on cost effectiveness considerations rather than
 on the existence of an AEC operating  site.

      State of the art technologies for protecting the public health
 and safety are  now available.  ?Ience, specific criteria for interim
 storage  packaging could  be and should be written now.  The adoption
 of such  technologies, however, should not foreclose the use of
 future technological  refinements which might provide further safety
 margins  or greater efficiency without invalidating earlier approved
 technologies.

      If  the requirements of  the draft statement are to be  implerented
 within the time frame indicated, the  schedules for developing the
 requix'ed technology and  facilities must be accelerated.  For example,
 the development program  for  permanent disposition of transuranium-
 contaminated  hulls calls for initial  operation of the storage system
 in the period FY 1981 to FY  1983.  At that time, significant quanti-
 ties  of  hulls will already have been  generated and should have been
 sent  to  interim surface  storage facilities.

      To minimize handling and shipping, we recommend that considera-
 tion  be  given to AEC  ownership of both the interim high level waste
 and the  transuranic waste storage facilities at the individual
 production sites.  However,  these facilities could be owned either
 by industry or by the AEC, or operated for the AEC by industry.

      Complete separation of  transplutonium elements from high level
waste should  be recognized as developmental at best.  Endorsement
 of this concept may subsequently be shown to be in conflict with
 cost  benefit  considerations.

      The problems of  disposal of large, high gamma-alpha contaminate a
waste, such as failed equipment,  has not been properly addressed in
the draft  statement.

     We also  wish to  point out that the draft statement has the
nature of  a development program and,  while the goals are clearly
delineated, the draft does not present a firm time schedule nor
does  it furnish enough hard data for industry to make investment
decisions which are required in the very near term.

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 86

Secretary of the Commission
October 25, 1974
Page 3


     Since transuranium-contaminated wastes are treated in both
the draft impact statement and the notices on proposed changes
to 10 CFR Part 20 and Part 150, our comments on these two notices
follow.

     Although we agree that wastes which contain substantial
quantities of transuranics should be placed under Federal control
and that the interim retrievable surface storage systems should
be owned by the Commission, we are concerned that none of the
management methods proposed for interim storage for commercial
transuranium waste offers the optimum in terr.is of cost effectiveness,
We record-end that a program be initiated promptly to accomplish this
goal and we would be pleased to work with the Commission on such a
program.

     We also note that the proposed amendments to 10 CFR Part 20
do not contain a definition of transuranic wastes.   The introductory
remarks discussing the proposed amendments make reference to general
classifications of certain types of wastes as transuranic on the
basis of their origin or upon a measurement at a 10 nanocuries per
gram level.  This latter type of classification is not practical in
comrnerical nuclear facilities, considering the low concentrations
encountered with many types of waste.  For example, it is stated
in WASH-1539 (p. B-3) that "at present,  external radiation measure-
ments on waste packages cannot detect plutonium at this low a
concentration."  The general classifications are too broad and
subject to too much interpretation.  A preferred alternative,  not
dependrnent upon questionable or undeveloped measurement techniques,
would be to classify wastes upon the likelihood of their direct
and substantial contact with transuranic materials, a procedure
that we believe is now followed at AEC facilities.   We propose that
the following basis be adopted for classifying wastes with respect
to transuranic content.

     1.  Transuranic wastes:

         Those wastes which have been in direct contact with
materials containing transuranium bearing elements; for example,
wastes originating in enclosures and process glove boxes containing
transuranic elements.

     2.  Non-transuranic wastes:

         Wastes originating in uncontaminated controlled areas
outside of plutonium enclosures and process glove boxes, including
radwastes associated with or originating in current types of nuclear

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                                                                 87
Secretary of the Commission
October 25, 1974
Page 4


power reactors and wastes from plants or plant areas not processing
or handling transuranium elements.

         Wastes not clearly falling into the above categories
should be classified on an individual basis after a careful review
of plant operations to determine the likelihood of transuranic
contamination.

     It should be noted that, as yet, there has been no definition
of the form of solid wastes that would be acceptable to the AZC,
neither has any indication been given as to the costs associated
with the AEC management and disposal of such wastes, nor has the
site to which such materials are to be delivered yet been named.
In the absence of such information, the proposed amendments are
considered premature.

     It is most urgent that waste form specifications,  packaging
requirements, and charges for services be stated in a complete and
consistent form at the earliest possible date and certainly prior
to the adoption of any such amendments.  Such specifications,
requirements and charges should be set forth in the proposed amend-
ments and not left to future notices.
                              Ralph W.  Deuster
                              Chairman
RWDrcl

Attachment

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88
                        ATTACHMENT






                 Atomic Industrial Forum



            Subcommittee on Radioactive Waste




                         of the



          Nuclear Fuel Cycle Services Committee



          *******************






 Ralph W. Deuster            Nuclear Fuel Services, Inc., Chairman



 Emanuel Gordon              Atomic Industrial Forum, Secretary










 S. J. Beard                 Exxon Nuclear Company



 Gary R. Bray                Allied General Nuclear Services



 Irving Knudsen              Westinghouse Electric Corporation



 James H. Leonard            Nuclear Engineering Company




 E. D. North                 Nuclear Fuel Services, Inc.



 Edmond C. Tarnuzzer         Yankee Atomic Electric



 Peter T. Tuite              Hittman Nuclear & Development Corporation



 E. E.- Voiland               General Electric Company



 Charles R. Woods            NUMEC










 10/25/74

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      r
                       Atomic Industrial Forum, Inc.                                  Jj y
                       475 Park Avenue South
                       Now York. New York 1001G
                       Telephone (212)725-8300
                       Cable Atomforum Newyork
October 28, 1974
U.S. Atomic Energy Commission
Washington, D. C. 20545

Attention:  Deputy Director  for Fuels and Materials
            Directorate of Licensing-ReguI at ion

            Subject:  Comments on Draft, "The Generic  Environmental
                      Statement on the Use of Recycle  Plutonium  in
                      Mixed  Oxide Fuel  in LWR's"(WASK-I 527)

Dear Sir:

The attached comments have been developed by an Ad Hoc Plutonium  Recycle
Task Force of the Atomic  Industrial Forum's Committee  on  Nuclear  Fuel
Cycle Services.  A list of the Task Force membership  is also  attached.

The Task Force commends the  AEC for the staff effort and  care reflected
in the draft GESMO and believes that the statement will contribute  impor-
tant support to the ultimate recycle of pIutoniurn-bearing  fuels  in  light
water reactors.  The Task Force also commends the AEC  for  seeking the com-
ments of the nuclear industry and other interested parties on the drai'1
statement.

The comments are submitted with the objective of strengthening 1he  draft
statement and address the following five general areas:   cost-benefit
analysis, limitations of scope, safeguards, health and safety, and  format.
Additional comments of a more detailed nature, derived from a page-by-page
review of the draft statement are presented separately.

The Task Force's detailed comments seek to correct certain  inaccuracies,
address additional 1 epics and clarify points thai appear  to hove  been
based on incomplete or obsolete data.  They are offered with  the  hope
that they will shorten review of the statement during  the  hearing t.V-jt  is
to be held.   For the most part, the exceptions taken by trie Task  Force to
certain of the proposals set forth in the draft GESMO  are  attributable to
the Task Force's belief that there is a greater need to quanlify  environ-
mental impacts insofar as possible through cost-benefit analyses.   T'n; s
is especially true in those  sections of the statement  treating on safe--
guards.

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    90
U.S.  Atomic Energy Commission        -  2  -             October 28   1974


The Task Force appreciates this  opportunity  to  review the  draft statement
and hopes its comments will  facilitate early issuance and  adoption of the
final statement.
                                     Si ncere ly,
                                     RaIph  W.  Deuster,  Chairman
                                     Nuclear  Fuel  Cycle Services  Committee
RWD/jmc
Attachments

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                   Atomic Industrial Forum, Inc.
                   475 Park A venue South
                   New York. New York 10016
                   Telephone (212)7258300
                   Cable. Atomforum Newyork
                            91
r
Attachment I  of  4
                 General  Comments on  the GESMO

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   92
                          Cost-Benefit Analysis
It is generally known throughout the industry that the capital  costs enumer-
ated in Table S-14, "Capital Invested (Millions of 1974 Dollars about 1990)"
are outdated.  Table S-14 cost estimates overall  are low by about 20$.   Sel-
elected areas, such as reprocessing and mixed oxide fabrication are perhaps
low by several hundred percent.  Similarly, the operating cost  assumptions
for materials and services  in Table S-15, "Projected Costs for  Materials
and Services  in 1990 (Millions of 1974 Dollars)"  are generally  low by vary-
ing amounts.

Using more recent estimates of capital  and operating costs, the differential
annual cost for the year 1990 to the users of LWR's generated electrical ener-
gy, if plutonium is not recycled, is approximately 0.8 mil/KV/H  (compared to
0.4 mi IIs/KWH in Table S-4), or about $2 billion  cost penalty compared  to
the $1 billion penalty indicated in GESMO.  If neither plutonium nor uranium
Is recycled, the cost penalty for the year 1990 will  likely be  in excess of
$2.5 billion.  It should be emphasized that the economics for a single  fu-
ture year case are not nearly indicative of the overall magnitude of poten-
tial cost savings attributable to plutonium recycle in LWR's.  For the  year
I960 through the year 2000, the users of LWR's generated electrical  energy
will pay a cumulative total penalty of nearly $50 billion if plutonium  is
not used in light water reactors, and nearly $60  billion if neither plutonium
nor uranium is recycled.  This cumulative penalty to society through the year
2000, which is in 1974 dollars, is more than the  total  capital  investment
that will be needed to support the LWR fuel cycle.

In the overall evaluation of plutonium recycle, the most realistic analysis
would assume some delays in the schedules as outlined in GESMO.  Certainly
some slippage in almost all schedules is inevitable without solid commit-
ments to key milestones from the AEC and its licensing and regulatory agen-
cies, from the nuclear industry, from the Government in its energy policies,
and from the general public at  large.  It would be appropriate  in GESMO to
analyze the impact of schedule slippages on the cost-benefit of plutonium
recycle.  The initial delays in reprocessing should be addressed.  Also, an
alternative case analysis which should be  included in any further studies
on'the sensitivity of schedules is that case which considers a  slippage in
the breeder (FBR's) schedule of -5-10 years.  Under these circumstances, a
comparison should be made between the alternatives of LWR plutonium recycle
through the year 2000 and uranium utilization only.  This approach would
provide the proper perspective on which to judge the merits of  various  fuel
cycles.   Furthermore, this comparison should be carried out on  a cumulative
basis since the true impact occurs over the number of years the program is
implemented.

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A critical  issue  in me consideration of the GESMO assumptions and alter-
nate case studies  is the  fact that without plutonium recycle  in LWR's, the
growth of a breeder industry will be slowed considerably.  Experience
gained with handling  large amounts of plutonium through  1990  and beyond  is
essential to the growth of the  industry and will provide the  framework for
licensing and public acceptaTvce.  Under this basis, four of the six cases
evaluated by the Commission would no longer be considered viable options
for the breeder concept.

Finally,  In GESMO, the  impact of plutonfum recycle on the price elasticity
of yellowcake is assumed  to be  negligible or non-existent.  This assumption
must be challenged on the basis that the demands placed on l^Og without
plutonium recycle are likely to far exceed by a considerable margin the val-
ues projected in GESMO.
                           Limitations of Scope

As we interpret the GESMO, there are severe scope limitations which either
restrict the applicability of the GESMO, or imply that operations outside
of the GESMO scope will not be permitted.

Manufacturing Facilities

The report would have greater credibility and usefulness if it also covered
the period of time when the MOX fuel cycle industry is evolving and growing
(1975-1990) as well as when it reaches maturity (estimated - 1990).  As the
report now exists, it relates only to the wide scale use of Pu in MOX fuels
for LWR's  in the year 1990.  At that time (1990) an estimated 6-8 MOX fuel
fabrication plants of approximately 200-300 MT/yr. capacity would be re-
quired,  the inference of the report being that these MOX fuel fabrication
plants,  which do not now exist, would be new and would meet the concepts
and requirements of an upgraded safeguards program yet to be defined.  No
consideration is given to the five pilot-development MOX fuel fabrication
facilities now existing and which could be viable for the interim period
between  1975 and 1985, provided they are not required to meet 1990 safe-
guards and other standards during the interim period.   (See "Manufacturing"
section  under "Health & Safety").  These existing plants are needed for de-
veloping both LWR and Breeder fuel.

When evaluated in relation to the upgraded safeguards concepts, it Is ob-
vious that these existing pilot facilities will  be obsolete by 1990 stan-
dards.  However, it is not clear that the same measures needed under the
heavy throughputs of 1990, are needed while throughputs are still  very low
and adequately controlled b,  existing safeguards methods.  Since there will
be a need for these pilot facilities between 1975 and  1990 an environmen-
tal assessment and cost-benefit analysis should be made to determine the

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    94
extent to which existing plants should be operated, partially upgraded and
perhaps even expanded without adversely affecting the environment or de-
tracting from an adequate safeguards program.   Inasmuch as the AEC actively
encouraged each of the companies operating pilot MOX fuel fabrication facil-
ities to get into the plutonium business, every effort should be made to
enable the existing  facilities to be gainfully  used and fully depreciated
In a safe and prudent manner before such facilities are declared obsolete
under 1990 standards.  As already mentioned, this analysis should consider
the small capacities of the existing MOX fuel fabrication plants, and the
fact that the facilities have already been upgraded to meet current AEC
safeguards requirements.

Limits on Recycle Amounts

Detailed discussion  in GESMO relative to the model LWR indicates that the
1.15 self generated  recycle (SGR) value used is an average calculated from
operating experience with existing LWR's.  The  report summary, however,
goes one step further and implies limiting Pu recycle to the  1.15 SGR level.
Since one might expect improved operating performance in all  LWR's by 1990
it would seem more appropriate for the report to evaluate the impact on the
environment of the highest Pu recycle technically possible for LWR's and
to allow each reactor to recycle all the Pu it. generates under equilibrium
conditions.

In like manner, the  report uses an upper limit of 5% Pu in uranium and men-
tions only natural  uranium as the carrier.   Some reactors may require slight-
ly higher Pu concentrations than 5% and could economically use depleted on
slightly enriched uranium rather than natural uranium as a carrier.  These
alternatives should be considered by the GESMO report.

Statement of Purpose

It would be most useful  if the stated purpose of the GESMO could be en-
larged to make it clear that environmental  considerations covered by the
report need not be duplicated for inclusion in environmental  statements sub-
mitted by LWR operators, reprocessing plants and mixed  oxide fuel fabrica-
tion plants when Pu  is ultimately recycled  or new facilities are construct-
ed.  If this is not allowed there seems to be little use for GESMO except
as a starting point  for more discussion and perhaps the basis for repeti-
tive environmental  statements.
                                Safeguards

We feel that GESMO should emphasize the fact that considering the existing
supply of plutonium and its current utilization, the current safeguards

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                                                                                95
system, as recently promulgated by the Commission, provides reasonable as-
surance that the health and safety of the public will be protected.  We,
therefore, concur with the Commission that the active safeguards system
should be continued including the ongoing assessment of changing considera-
tions.  It is recognized that as safeguards are reassessed, upgrading may
be necessary in the future.  Future upgrading, particularly in areas of
the government's responsibility, was addressed recently (October 9, 1974)
in a speech by the Forum's President Carl Walske.   His speech is attached
for your information.

The GESMO in its present form presents no real cost-benefit analysis with
respect to upgraded safeguards programs vs. status-quo programs.  The re-
port also seems to imply there are no alternatives to the concepts proposed
(although we do not believe this to be the actual  intent).   Since defini-
tive safeguards programs will not be issued for at least another year, some
thought should be given to separating the detailed discussions of safe-
guards proposals from the GESMO and treating these as a separate issue at
a later date.

Of those concepts which have been identified by the Commission as a means
to improve safeguards significantly, we consider co-location as having a
very long-range potential rather than being a viable near-term alternative.
On the negative side, co-location could impose commercial  difficulties
which would affect the ability of fuel  service suppliers to respond in a
timely manner to the needs of fuel users.

With respect to the transportation aspects of co-location,  we believe that
adequate transportation safeguards can be provided within the present sy-
stem and commensurate with the type, form and amount of the nuclear mate-
rials involved.   Therefore, there is no absolute requirement to eliminate
transportation in any segment of the fuel cycle.   In any case, it must be
recognized that transportation could not be eliminated altogether.   The
Commission has indicated as one of the advantages  of an integrated fuel
cycle facility that it would make use of onsite protection  measures more
efficient.   But on balance, considering the small  portion  of the total
fuel  cycle costs which would be -incurred for safeguards even with possible
improvements, the benefit of any added  efficiency  gained by reducing trans-
portation or by integrating facilities could not offset the added costs
associated with co-location.

We suggest that the concepts involving  spiked Pu or debilitating gases be
discarded.   Considering the fact that there are other reasonable means
available which can be employed to attain the Commission's  objectives,
these schemes are quite unattractive.   It is difficult to  see how the bene-
fit could outweigh the increased hazard created.

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  96
In conclusion, we believe that the present system of safeguards is generally
adequate for the current state of the industry and such improvements as are
desirable can be made in an orderly evolutionary way.  We are convinced that
much of the concern being expressed today is based upon situations which may
have existed at certain facilities prior to the implementation of the pre-
sent safeguards system and upon sn inadequate understanding of the techno-
logical and other improvements that are now incorporated in the present sy-
stem.

                            Health and Safety

Environmental Radiation

The radiation doses in the environs from reactors using mixed oxide fuel
are calculated using as a basis WASH-1258 "Final Environmental Statement
Concerning Proposed Rule Making Action:  . .  .'As Low As Practicable' .  . .
Nuclear Power Reactor Effluents".  The GESMO evaluation, therefore, contains
the same problems of overconservative assumptions and overconservative meth-
ods of calculation of doses as that document.   In fact, the GESMO evaluation
•fails to utilize several of the improvements made in caIculational techniques
and assumptions made by the AEC.  Several specific examples are offered to
illustrate the nature of overconservatism in Attachment A to the comments.

"Hot Particle" Problem

Possible effects of the so called "hot particle" problem should be discussed
In more detail in the final GESMO.  As long as the Commission has not devel-
oped a final position on this subject,  a possibility exists that it will be
necessary to reduce the allowable airborne concentrations of plutonium by
significant factors.  A discussion of the impact of such a potential reduc-
tion should be included in the final  GESMO.

Manufacturing

The GESMO addresses only hardened manufacturing facilities designed, built,
and operated according to some combination of the GESMO assumptions and new
regulations which apply to plutonium in the fuel cycle.  If mixed oxide
fabrication  loads are less than projected in the GESMO there may be a need
to use existing facilities during the period addressed in the GESMO.  The
existing facilities will, therefore,  have to be modified to meet some in-
terim regulatory safety requirements.  As a result, occupational safety
and environmental safety impacts of the interim facilities may not be con-
sistent with the GESMO.  The final GESMO should present an analysis of this
eventuality.

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                                                                                97
The final GESMO should include additional analysis of the consequences of
accidents in the manufacturing facilities.  The consequences of loss of con-
finement and loss of shielding are more severe than in the UC>2 fabrication
plant where the uranium has much less radiotoxicity and external  radiation
exposure is of little concern.  In order to reduce the risk of accidents to
acceptable  levels, design, construction and operation of recycle fuel manu-
facturing facilities will result in greater capital and operating expenses.
The factor of 1.5 greater than the cost of uranium facilities used in GESMO
appears to be low.
                                  Format

The following comments are presented as a means of clarifying the GESMO
through some changes in format:

       Although Volume I  contains a good summary of the information pre-
       sented in GESMO, it is often difficult to locate the detailed
       discussions in the later volumes which are related to the gene-
       ral statements and tables in Volume I.  To clarify these state-
       ments and tables,  it is recommended that chapter and section
       numbers of the applicable detailed discussions be referenced in
       Volume I.

       A rather detailed  table of contents is provided for the report.
       However, it would  be very helpful if a subject index were also
       Included.  The same specific subjects are discussed in several
       locations throughout the report.  Therefore, it is difficult
       for someone studying a particular aspect to find all of the
       separate related discussions.

       The report, and in particular Volume I, is quite repetitious.
       The value of a brief summary at the beginning is recognized.
       However, in reading through the report, one wastes time in cov-
       ering the same ground several times.

       If the data were expanded and all technical  inaccuracies cor-
       rected, the Volume 3 technical  data would be useful  with regard
       to the out-of-reactor portion of the licensing process.   The
       Volume would be extremely useful to industry with  regard to the
       reactor portion of the licensing process if it contained a table
       for indicating the impact of Pu recycle as was provided by the
       Commission with respect to the impact of the uranium fuel  cycle.
       This may have besn the Commission's intent judging from the ti-
       tles of the Tables IV A-7 and IV A-8 listed in the Table of
       Contents, however,  these tables of GESMO are missing.

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98
    The paragraph designations used in GESMO are confusing, consider
    the use of a straight number system.   With the number system,  the
    reader could easily determine what main section and subsections
    a specific paragraph is contained in.   For example, paragraph
    l.b.d).(a) of Chapter IV, Section E  cou l.d be straightforwardly
    designated as I.2.I.I  of Chapter IV,  Section E or Paragraph
    4.5.1.2.1.1.

    Numerous general statements are made  in GESMO which should be
    further clarified by placing them in  context.  For example, it
    Is stated that the  immediate recycling of pIutoniurn would re-
    duce the requirements for uranium mining by about 9% around 1990.
    It would be beneficial  to add what fraction of the total  benefit
    (In dollars) this reduction represents.  This type of clarifica-
    tion would make GESMO much easier to  understand and it would
    strengthen many of the arguments presented.

    The purpose of the GESMO seems to get lost in the words (page
    S-13).  It should be possible to state the objectives more clear-
    ly and then to equate the conclusions to them.

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                    Atomic In'Jur.triol Forum, inc.
                    47b Park Avenue South
                    New York, r..':.vv York 10016
                    Telephone  (212)7213-8300
                    Cable Atomforum Newyork
                                                                                    99
r
Attachment  2 of 4
                  Detailed Corr"ncnts  on the  GESf-'O

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  100
                                  DETAILED COMMENTS
             Paragraph k.  This paragraph states that "accidents in  the
             mixed-oxide fuel fabrication plant, a facility that does not
             occur in the UCL fuel cycle, are similar in consequence
             to accidents at UCL fuel  cycle facilities.  .  .".   This  is only
             so if plutonium fabrication plants are designed and built like
             reprocessing plants.  If  this is the implication,  it should be
             more clearly stated or the paragraph revised.

S-3          Table S-1.   It would help if there was a footnote  indicating the
             size of the 1990 LWR industry and what fraction of the  fissile
             material is plutonium.  It is also not clear  if the Kr-85 is
             released or removed from  the effluent streams.

S-k          Paragraph j_.  The definition of self-generated quantities of
             recycle is  somewhat ambiguous.  Does this refer to total amount
             of plutonium available or equilibrium amounts?  Although the
             choice of 1.15 times self-generated recycle for the reference
             case is reasonable some statement should be made about  the relative
             effect of larger quantities of plutonium in recycle fuel (up to 200%).
             In view of  the delays in  start-ups of spent fuel  reprocessing
             plants it may be necessary or desirable for the industry to recycle
             larger than self-generated quantities of plutonium in order to
             work off the backlog of reprocessed plutonium  which will develop
             after a number of reprocessing plants have  begun operation.  Thus,
             the report  should also consider the relative effects of
             significantly larger than 115% self-generated  plutonium recycle.

S-A          Last Paragraph.  The GESMO seems to place unnecessarily  heavy reliance
             on a situation "already dominated" by other strategic SMM materials.
             There is considerable uncertainty in the timing of the  LMFBR and
             the HTGR programs.  Furthermore, it is suggested  the amounts of
             special nuclear material  projected"for the  HTGR and LMFBR programs
             be more spec! f ica 1-ly identified.  It is not obvious whether Pu
             for military uses is included in the "other" category.

             This paragraph also seems inconsistent with later  statements
             since it indicates that plutonium recycle will not significantly
             affect required safeguards since other SUM  dominates the shipping
             picture.  Later, however, on pages S-6 and  S-7, the statement is
             made that the current safeguards provisions are inadequate and
             further work is being undertaken to study methods  of upgrading
             them.

S-5          Table S-2.   Is the bottom 1ine SNM wi thout  the plutonium recycle
             program or  SNM less recycle plutonium?  Is  the top line add!tional
             SflM due to  plutonium recycle?  Also, it is not  clear if  the quantities
             are total plutonium or fissile plutonium.

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                                                                              101
Page

S~7          Paragraph 1.   Some reference to the timing for the co-location
             concept is believed to be important.  The concept, if viable,
             becomes more important as the number of fuel fabrication and
             reprocessing plants increases.  It is not a very important
             or effective method of improving safeguards while the number
             of plants are very few.  Furthermore, the opportunities of
             co-locating with any of the partially constructed reprocessing
             plants  are difficult to access so that it is not clear that
             co-location can be a practical solution for use in time for
             the first additions of fabrication capacity.

S-7          Concept 6.  Somr'inention of the fact that "spiking" is likely
             to be the most e«pfi«*;ive of all the alternatives should be made.

S-7          Paragraph 7.   Although this paragraph implies that the above
             are only concepts which are under study,  it is recommended that
             the Commission make this more positive.   It should be clear that
             the six listed concepts are merely examples and that the
             Commission is not now locked into any of  these, and that many
             alternatives will be investigated before  firm determinations
             are made.

S-7          Paragraph 8.   Upgrading of safeguards about one year after issuance
             of the final  GESMO is likely to delay decisions on the construction
             of any manufacturing facilities for mixed oxide fuel.  Since the  use
             of additional safeguards seems to be a rather firm conclusion,
             it would seem more advisable to recognize that evaluation of the
             alternative safeguards methods will proceed in parallel with the
             GESMO.  The  timing on release of upgraded safeguards regulations
             should not be tied to the timing of the final GESMO but rather
             proceed as expeditiously as possible.

S-8          Paragraph 9.   The conclusion that "alternative ^. ranks best"
             cannot be made directly from the data presented in Table S-3
             (page S-9) .   Based on that table,  alternative 3-  is the best.

S-9          Table S-3.  Depending on the manner of safeguard upgrading,  the
             whole body radiation exposure for alternative 3-  and ^. may not
             be identical  ("spiking" may greatly increase the exposure).

             The value under whole body radiation exposun; "plus 21%" should
             be "minus 2U".

             The ability  to calculate the cost differential between Cases III
             and IV is highly questionable considering the vast differences
             .between the  costs of the six subcases considered in I tern ^4.

             What is the  time basis for this table?  (Annual?)

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 102




Page

S-10         Paragraph 3.   "1955" should be  "1995".

S-10         Paragraph k.   Clarification is  required.   This  paragraph  first
             implies that some LWR plutonium will  feed  LMFBR's  and  then
             states "the only potential  use  of  Pu" is  LWR  recycle.

S-10         Paragraph 5.   Alternative 5-  which involves permanent  storage
             of plutonium is claimed to  present a  reduced  safeguards  threat
             compared to the base case.   It  is  not immediately  apparent  that
             having a large stockpile of plutonium involves  less  of a  hazard
             than smaller amounts in recycle.

S-ll         Table S-4 (and preceding text).    There  is no indication  whether
             the costs presented are based on current  dollars or  costs
             escalated to the 1990 comparison date.  Also, Table  S-4  indicates
             that costs include upgraded safeguards but does not  state  which
             safeguards are included (although  it  seems apparent  that  the costs
             of the various safeguards proposals will  vary widely).

S-12         Paragraph 6.   In the conclusion  to approve plutonium recycle,  (and
             in a number of other places in  the report),  the implication is
             that the approval of more than  1.15 SGR would not  be given.  It
             would be unfortunate if this  blanket  limit was  adopted without
             compelling reason and it would  be  much better to rely  on  a
             case-by-case analysis.   Some  reactors will very likely have
             greater recycle capabilities  and needs than others.

S-12         Conclusion 2.B.  Remarks relative  to  timing of  the decisions for
             upgrading safeguard measures  should be omitted  as  discussed in
             the comment on Page S~7> Paragraph 8.

S-12         Conclusion 2.C.  Some expansion  of the statement to  identify those
             safeguard measures-which will be promptly  implemented  would be
             helpful.

S-13         Paragraph 1.   This should be  reworded to  indicate  that plutonium
             recycle constitutes a federal action  which potentially affects
             the quality of the environment.

S-]k         Paragraph 2.   The manner in which  this paragraph is  worded  opens
             up the question as tojust what  purpose the GESMO does  serve.   It
             is recommended that the paragraph  be  written  in a  more positive
             vein, indicating the purposes the  GESMO serves, and  its  limitations,

S-]k         Paragraph 3.   The uranium prices are  too  low  and need  to  be updated.

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                                                                               103
Page
                                  27ft
S-15         Paragraph 3.  Should  J Pu be

S-15         Paragraph k.  The stated concern for    Am conflicts  in basic
             approach to the consideration using "spiked" plutonium to improve
             safeguards.

             It does not appear that the costs and effects of plutonium
             repurificat!on to remove Am have been included in the evaluation
             of alternatives.   in particular, there should be a cost savings
             for alternatives  3-  and b.  (immediate Pu recycle) as opposed
             to alternative 1  (base case).  Undoubtedly the costs  are relatively
             small but they should not be ignored.

S-15         Footnote.  Does "other isotopes, e.g.. 2^°Pu" include  ' Pu?
             If so,  the statement is incorrect.   23opu js not. an imoortant
             fissile material  but is extremely important to evaluating overall
             environmental  impact, including cost benefit analysis.

S-16         Paragraph 5-  This should specify that MOX spent fuel contains
             larger quantities of Pu and transplutoniurn isotopes.

S-18         Paragraph 2.  In  contrast to the judgment made in the GESMO,
             dissolution of mixed oxide fuels may well present significant
             difficulties to the reprocessor.  Complete dissolution  of
             plutonium will probably require the addition of fluoride in
             quantities sufficient to cause corrosion  in the stainless steels
             used throughout most head-end processes.   Major modifications
             to flow sheet  and equipment will, therefore,  be necessary in  ell
             existing reprocessing plants.

S-20         Paragraph 2.  "TWR" should be "LWR".

S-21         Paragraph k.  Relating plutonium inventory to FBR fuel  requirements
             seems meaningless since FBR requirements  increase approximately
             five times between 1990 and 1995 and approximately twenty times
             between 1S90 and  2000.

S-22,23      Figures S-1, S-2, S~3.   Are the amounts  in the figures  annual
             or cumulative?

S-27,28      Are the amounts in the tables annual or  cumulative?

$-28         Table S-6.   The use of fossil fuel  should be  clarified.
             What percentage of the energy requirements for the cycle
             are assumed to be supplied by fossil fuel?

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   104
S-31         Table S-7-    Assuming -that Table S-7 represents  the  worldwide
             effects of  the U.S.  LWR industry,  the title  of  the  table
             should read,  ". .  .FROM THE U.S. LWR INDUSTRY."

S-35         Paragraph k.   Quantity  of 2 x 10   Btu needs a  time  dimension
             (per year?).

S-35         Paragraph 6.   Is the "residual  heat" the total heat  value of the
             waste from 10 years  decay to infinity?  The  term should be
             defined or  clarified.

             The size and  capacity of the waste canister  (I1  0 x  10'  L, 3-2  MT
             fuel at 2 ft3 waste/MT) or a reference to Page  IV H-12 should be
             shown in paragraph 6.

S-35         Last sentence, bottom of page.   This sentence should be changed
             to read, "Since the  quantity of waste is small and since the
             waste is stored and  not released to the environment, there would
             be minimal  environmental impact."

S-36         Paragraph 3.   Change the first  sentence to read,  ".  .  .0.27 and
             0.18 cases  per year  respectively".

S-^0         Table S-9.  An attempt  to quantify the radiological  effects
             of transportation  accidents should be made.   The  term "small"
             is indefinite.

             Footnote.  The last  two sentences  in the footnote should be omitted.
             A reference  to Page  S-36 might  be  desirable.

S-^3         Table S-10.   The estimates of Puf  utilization in  commercial LWR
             recycle fuel  shown in Table S-10 should be updated  to reflect
             the availability of  reprocessing facilities.  In  particular, it
             appears that  there will be no recycle plutonium  in  1976 and
             something less than  2^00 kgs Pu in 1977-

S-kk         Paragraph 5-   A reference should be maae to  the  recommendations
             of Will rich and Taylor  as stated on page V-37-

             In the third  sentence of Paragraph 5-, "ompliment" should be
             "implement".

S-J»5         Paragraphs 1 .  S 2.    The element of cost has  been  omitted from
             the discussion of safeguards in the first two paragraphs.
             Any increase  or tightening of safeguards measures should consider
             the cost and  cost benefit to be derived from such changes.

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                                                                               105
S-J»5         Concept 1.  It should.be noted that with Integrated Fuel Cycle
             Facilities (minimization of Pu shipping) the utility might be
             forced into using the specific fabrication facility which is on
             the reprocessing plant site (or vice versa).

S-^5         Concept 6.  It should be noted that the use of "spiked" plutonium
             might prove to be impractical  or uneconomical due to the cost
             of processing such material in the PuO,j conversion and fuel
             fabrication operations.  One of ttse purposes of reprocessing is
             to minimize fission product content so that semi-remote handling
             is possible.

S-W         Paragraph 2.   This paragraph expresses a time relationship between
             the issuance of the final GESMO statement and the decisions  on
             safeguards upgrading.  This relationship appears to be contrary
             to the ultimate purpose of GESMO.   Several  of the concepts under
             study could have a significant impact upon the environment and the
             cost benefit of plutonium recycle.  For this reason, decisions
             on upgrading of safeguards requirements need to be made as soon as
             possible regardless of the date of the final GESMO statement.

             In addition,  Pu conversion, storage, and MOX fabrication facilities
             are being designed and/or constructed today.  Postponement of
             safeguards decisions will only lead to inefficient backfitting
             and costly construction and operational delays.  A statement
             should be made in paragraph 2. acknowledging the existence of
             present-day MOX fuel fab plants.

S-A6         F. Paragraph 3.   The statement:   "Spent 1.15 SGR fuels would
             contain about 16% more tritrium and 11% less °5«r than spent
             U0_ fuels" should be referenced.

S-^7         Paragraph 3.   This paragraph should mention the proposed
             disposition of the transuranics after separation.

S-^7         Paragraph 5.   The various safeguards concepts being considered have  been
             detailed earlier and it appears too restrictiva to single out
             one of the concepts in Paragraph  5-  It is, therefore, suggested
             that the second sentence be omitted and the third sentence
             be restructured.

S-51         Fi gure $-?•  Alternative 1  in  this figure should show a Pu Storage
             "box" (wi thout asterisk)  similar  to the box in Alternative 5-

S-52         Table S-11.  Under Alternative 2.  the Whole Body Radiation Exposure
             should be negative (-21%).

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  106
Page

S-53         Table S-12.  Under Alternati ve 6_.  the number of Transportation
             Shipments should be "-2500".

             The 77,900 MT SWU base case enrichment quantity should  be
             footnoted to the effect that  it includes  kk% (or 30,000 MT
             SWU) of foreign enrichment requirements.   This  note  will
             make Table S-12 consistent with the separative  work  units
             discussed on page S-61.

$~5b         Last paragraph.  TsuJe number should be S-13-

S-55         Table S-J3.  Under Alternative 6.  the kgs.  of Pu, accumulated  in
             storage through 1990 should be "-309,200".

S-57         Paragraph 5.  Sentence 4 should read,  "Those operations where
             additional safeguards measures should be  considered  over
             Alternative 1.  . .".  A need  or requirement has not  been
             established; reference the wording and intent of the second
             paragraph on page S-^2.

S-58         Paragraph 2.  The last sentence speaks of ". .  .the  AEC's
             need to upgrade the safeguards program."   Again,  this need
             has not been established,  and the  sentence should probably read,
             ". . .the AEC's decisions  on  an upgraded  safeguards  program."

             The paragraph entitled Capital Investments should state that
             costs are calculated in 197^  dollars and  that Table  S-l^ represents
             total accumulated capital  investment to 1990 (if that,  in  fact,
             is the case).

             The paragraph entitled Materials and Services Costs  should state
             that costs are calculated  in197^  dollars and that Table S-15
             represents annual 'expenditures in  1990 (if that,  in  fact,  is
             the case).

S-59         Table S-14.  Under Alternative 6 and in the supporting  data
             LTLVolume 4, the reason for a $70  million capital  cost  differential
             above the base case for "Spent Fuel Transportation"  is  not clear.
             Increased mileage accounts for the operating cost differential
             in Table S-15 (pg. S-60)  but  the  reason for the capital  cost
             differential is not apparent.

S-60         Table S-15.  The differential changes  in  "Mining-Milling"  costs
             between the alternatives  in Table  S-15 do not appear to be consistent.
             Table S-12 on page S~53 shows that the increase in mining-milling
             quantities for Alternatives 2 and  6 is approximately equal to  the
             quantity decrea=  in Alternatives  3 and ^ (e.g.,  milling is
             + 11,900 tons U  ;' in Alternatives  2 and 6 versus  -10,000 tons

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                                                                              107
S-60  (Cont'd)  U.On in Alternatives. 3  and  4).   The  operating  cost  figures  in
               Table S-15,  however,  show a significant  dollar change
               (+$670 million  for  Alternatives  2 and 6  versus - $300
               million for  Alternatives  3  and  4).   If  these  figures are
               correct, some explanation should be  given  either  in  this
               summary section or  in Volume 4.   It  appears  that  footnote "d"
               should also  apply to the  "Waste Management"  item since the
               previous table  (S-14) indicated  that waste management capital
               costs were absorbed by  the  federal government.

S-61           Paragraph 2. The enrichment cost of $48.90/kg SWU  for
               Alternatives 3  and  4 shown  in  the  last  line  of paragraph 2
               appears to be incorrect.  Table  XI-12 on page XI-35
               indicates a  figure  of $55.06/kg  SWU.  This latter figure is
               also consistent with the  -$400 million  enrichment cost
               differential for Alternatives  3  and  4 shown  in Table S-15-
               Use of the $48.90/kg SWU  cost would  yield  a  differential of
               about -$600  million.


1-2            Section A.   It  would be beneficial if the  purpose of GESMO
               should be more  simply stated.

1-3            Paragraph 2.  Next  to las.t  sentence  beginning with, "for
               comparison,  . . .".  This seems  out  of  place.  Makes the whole
               paragraph sound defensive.

1-3            Section B,  1st  sentence.  Need to define central station.

1-7            The out-of-reactor  fuel cycle operations are presented.
               Subsequently plutonium  and  radioactive wastes are discussed.
               There is a need to  establish what  is done  with "tails".

1-8            Fig ure 1-3 •   Need to define  acronymsand  use consistent units.
               Show depleted "tails" stream from enrichment. The whole
               balance is  difficult to follow.

1-9            Does projected  cost of  yellowcake  include  escalation?

1-10           Figure 1-4.   Consistent units should be  used - define acronyms.

1-12           Figure 1-6.   Is plutonium storage/inventory cumulative to 1990?
               The depleted U  - "tails"  -  stream should be shown as part of
               balance.  Whole balance is  hard  to follow.

1-14           Paragraph 1, second sentence.  Beginning with "thus, it would be
               .  . ." is ver«  difficult  to follow.

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    108
 Page

 1-14         Paragraphs 2 and 3.   This  seems  to  establish a  firm  limit on
              quantity of plutonium charged  in MOX.   Is  this  the  intent?
              MOX should be defined.

 1-17         What is  the time basis  of  values  in  Table  1-3.2?  Are  these
              annual  or cumulative?

11-2          Paragraph 1.  "Estimates of  nuclear  power  generation capacity.  .  ."
              Where is this shown?  A reference should be provided.

ll~3          2nd Line from top.   . .  ."ingested significant  amounts  of plutonium
              .  . .".   What is significant?  This  should be  related  to MPC  .
                                                                         3
11-3          Paragraph 2, 2nd sentence.   .  .  ."under  the defense  in  depth  design
              .  . .".  is not clear.

11-4          Page 11-4 and Table  I 1-3 seem  to  imply an  optimistic schedule
              for spent fuel recovery operations  in U.S.  (and,  therefore,
              earlier  than expected plutonium  availability).  Start-up, date
              for the  plants on Page  11-25 is not  achievable.   This fact
              is  Implied in the definition of  Case I  (Base Case)  for  the
              cost/benefit calculations, but may make alternatives 3, 4 and 5
              unrealistic.  Perhaps more  information could be presented on
              effects  of delays  in  implementation  of  recycle  and on effects of
              various  cost parameters (storage costs, capital investment costs)
              on  the  results.

11-5          Paragraph 4, last sentence.  Delete  "The chart  below,".

11-5          Paragraph 5, last sentence.  This sentence should reference
              Table 11-2.

11-12         Figure  I I - 4_.  The cost/unit  on right side  of chart  is confusing.

11-14         Table 11-3.  This schedule  is  probably not realistic as noted
              above(Page 11-4 comment).

11-20         Table 11-7.  Half  life  of  Pu-24l given as  13.2  years.   IV C-58
              lists the value as  14 years.   The currently accepted value is
              ^15 years (consistent with Volume 1  S-15).

11-24         Paragraph 2, 1st sentence.   correct spelling  of  "about".

11-24         Paragraph 2.  With  regard  to the coefficients  of  reactivity
              "larger" should be  "more negative".

              The discussion on caIculational  uncertainties  is  inconsistent
              with a  subsequent passage  (Volume 3»  IV. C-59)  on the same subject.

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                                                                              109
Page

11-25        1st sentence.  Need a period after parenthesis.

11-25        Paragraph 1.   Since cores containing mixed oxide assemblies
             are more stable GESMO indicates that "part length fuel  rods"
             may be eliminated.  The reference should be to part length
             control rods.

11-25        Last paragraph.  The start-up dates for existing or planned
             reprocessing  plants should be updated.

11-26        Paragraph 3,  1st sentence.  Delete "very".

11-27        Paragraph 5-   No mention is made of the hazards  of plutonium
             ni trate.

11-27        Paragraph 5.   Neutrons due to subcritical multiplication can also
             be very significant.

11-28        Section b.  The beta contribution from  Pu-2^1  is not discussed.

11-29        Section c and d.  It is not clear whether this section  is still
             restricted to plutonium oxide.   Also,  there is a statement that
             plutonium absorbed through the  skin deposits in  the bone which
             seem to contradict section a. on page  11-28.

Appendix     In the Appendix to Chapter II,  dealing  with criticality accidents
             in chemical processing, it is recommended that the material recently
             published by  Olsen, Hooper, Uotinen and Brown  on "Empirical Estimation
             of Number of  F i ss i ons from Acci den ta 1 Cr i t ica 1 i ty in Uran i urn or
             Plutonium Systems" (ANS Transactions, winter meeting,  197*0 be
             included.   This work is not merely a compilation of data on
             miscellaneous accidents, but presents an empirical means of
             estimating the energy release from various criticality  accidents.

11-32        Paragraph 3.   3 x 10^ should be 3 x lo"1^.

11-35        Paragraph 3-   "• • •» the fuel  fabricators designed the i r LWR f ue 1
             facilities  to produce.  . .".

11-38        Paragraph 2.   There are redundant phrases concerning burn-up and
             linear heat ratings.   Clarification is  required.

11-^0        Paragraph 1.   Statement on cladding material of  construction needs
             clari fication.

H-^0        It is  not clearly stated what type of reactor  Saxton was.   (PWR)

M-J»8        Tab1e  11-12.   No value given  for hole size;  footnote implies
             values given  for % dishing are  hole sizes.

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   110
 Page

 11-52        Table  I 1-15.   "Pu  concentration,  %  +_ .10  "is  not  clear
              (is  this  on  the  ratio  or  a percentage?).

 11-62        Paragraph k.   Mixed  oxide reprocessing  may  require additional
              capaci ty  in  the  plutonium purification  facilities, not  add!tions.

 I \-6k        Paragraph 1.   "In  all  transuranium  elements certain  small  losses.  .  .".
              Statement needs  clarification.

              30%  heat  geni_. -. •',  •,'  ,rease  lasts  over what  time period?


 \\-6k        Paragraph 3-   ^-5  microcuries per pound.

 11-65        Paragraph 1.   "Present plans  are  to hold.  .  .".   Statement needs
              clar i ficat ion.

I 11-^1-7       Figures  I I 1-1,2,3.   Shouldn't ordinate  scale  be  labeled "ICr Megawatts"
              instead of megawatts x 1()3?

111-8,9       Fi gures  11 I-4A & B are unnecessary.   The  same information  is
              provided  in  Table  III-].

I I 1-1         The  number of  fuel reprocessing plants  and  mine-mill  complexes
              may  not be attainable  in  the  period specified.


 IV  A-2       Paragraph 1.   Reference in  the  first paragraph  to "1/3  of  the  total
              power"  is confusing, since  power  is  an  instantaneous  measure.
              Is  the word  "energy" meant  instead  of "power"?  This  same  confusion
              exists on other  pages  (e.g.  IV  B-2).

 IV  A~5       Figure  IV A-2.   No stream is  shown  in this  figure for spent
              recycled  plutonium" or  uranium, which have negligible  value.
              It appears that  continuous  mixing with  newly  produced recycled
              material  would not be  economical.   Also,  no tails stream
              is  shown  from  the  enrichment  plant  on this  figure or  figure
              IV A-1 and similar figures  in Section 3.

 IV  A-6       Table  IV  A-1.  What  is the  basis  of values  in this  table,  annual?

 IV  A-7       Table  IV  A-2.  Units in Table  IV  A-2 need clarification.
              3H  & 8bKr in millions  Ci  per  year?

 IV  A-8       Table  IV  A-4.  Same  comment.

 IV  B-7       Paragraph 1.   R'jarding the last  sentence of  the  first  paragraph
              under  2.a.,  did    C  consider  the  added  costs  at  reactors recycling
              Pu?  This sta  - ,.. -.'  implies  they  did not;  in  cost/benefit  analysis
              it  should be L   , :dered.

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                                                                              Ill
Page

IV C-2       Paragraph 1.   Is "equivalent p1utoniurn" total  Pu or fissile Pu?

IV C~3       Under ' 'Ace i den ts " jhe if i r s t sen ten ce_ seems  to  be more  appropriate
             to "Normal Operation".   This should be clarified.

IV C-3       Is the GESMO  serving any purpose if each  request for licensing
             mixed-oxide assemblies  must be evaluated  on a  case-by-case  basis?
             Also line 3 "normaly" should be  "normal".  At  the end  of  this
             paragraph, the phrase "just as each new type.  .  ." could  be
             placed at the end of the second  to  last sentence,  if this is  the
             actual intent.  Third line  from  bottom change  "basically11 to
             "initially".

IV C-^       Last paragraph.   The last paragraph refers  to  both 63  rods  and 6^
             rods in  a BWR assembly.  Actually there are 63 fuel  bearing rods
             plus one non-fuel bearing rod (water-hole rod).

IV C-8       Some figures   (such as Figure IV  C-A)  are  out of  date and  do not
             match text discussion (e.g., Figure IV C-ll).

IV C-13      Paragraph 5.   100 tons  - standard or metric?  PWR core was  expressed
             in pounds. Also, this  description  applies  to  the design  of only
             one of three  vendors.

IV C-20      Paragraph 2,   line 8.  Add "IV" before "C-15".

IV C-2*»      Second sentence.  The intent of  the second  sentence on this page  is
             unclear.  Was 197^ used only to  compute the values of  isotopic
             abundance shown  in Table IV C-l?  If so is  this  conservative  or not?

IV C-28      Paragraph 2,  3-a.  Suggest  the following  wording changes:

             in line  2 change "changes are" to "differences is" and add
             "which"  after "isotope."

             in 1 ine  3 change "and the"  to "causes a".

             At ,the gn, d pf 3• a• do "thermal-hydraulic  consideration"
             include  fuel  temperature, fission gas release, etc?   If so  the
             statement is  not accurate as discussed later in  GESMO.

IV C-29      Paragraph 3.   Should specify that Saxton  and San Onofre were  PWR's.

IV C~32      Paragraph 2.   Is there  an error  in  the f i rst sentence  in  the
             second paragraph under  Control Rod  Worth,  regarding the thermal flux
             level being  "only half"?  It is certainly  reduced but not  by  a
             factor of two.  The argument following this statement  still stands,
             however.

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  112
Pacje

IV C-33      Paragraph  5.   The  fifth  paragraph  is weak  since  it  implies a
             difference between UCL and MOX.  Could  it  be  changed as  follows:
             "The worst-stuck-rod  control  requirement may  be  unchanged
             and is  affected  by fuel  loading patterns."?

             Paragraph  7.   The  meaning of  the last sentence  in this paragraph
             is  unclear.

             Paragraph  8,  1ine  2.  Between "in" and  "mixed" add  "core containing",

IV C-3*»      Line 5.   In  line 5 replace "necessity of" with "need for" since it
             is  difficult  to  imagine  reducing a necessity.

             Paragraph  3,  1ine  1.  Change  "effect" to "affect".

             At  the  bottom of page are words "above  in Chapter V" correct?
             If  Chapter V  is  the correct reference,  "above" should be "below".

IV C-35      Why are Gd,  Xe and Sm cross sections shown?

IV C-38      After first  paragraph, there  should be  two conclusions.  From
             reading the  text that follows it is not clear what  they are.

             Paragraph  2,  line  3-  Change  "since" to "and  as  a result".

IV C-39      At  the  bottom ofr paae, change  "is generally true" to "may be".

IV C-^3      Fi rst 1ine.   Change "would" to "could".  No evidence is provided
             supporting this  conclusion.   Last sentence in second paragraph
             is  a preferred approach  in this area also.

IV C-55      The statement that "these increases are largely  offset by
             the reduction in control. . .of mixed oxides" is not clear as
             to  meaning.    What may be meant is that "these increases are
             largely offset by  the lower initial reactivity of mixed oxide
             fuels."

             What is meant by "the required volume of coolant becomes excessive"?

             What is referred to at the end of the first paragraph; i.e.,
             "beneficial  effect" on what?             ~   """""

IV C-58      Line 2.  Change  "results  in"  to "produces".

             h., 1ine 2.   add "is" after "natural uranium" and in 1ine 1
             change  "and"  to  "an".

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                                                                             113
Page

IV C-59     Should another "bullet" be added stating to the effect  that
            "less experimental  data is available for normalization"?

IV C-61     The next to last paragraph should be more fully explained.

IV C-6*»     Label is missing on  ordinate of graph (%M.O.).

IV C-71     Reference 1:   ". .  .The Big Rock Point.  . .".

IV C-72     Item (6).  Change "^reaction" to "Creation".

IV C-100    Paragraph 1.   The syntax of the fi rst sentence  is  incorrect.

IV C-100    Paragraph 2.   The syntax of the second sentence is  incorrect.

IV C-10A    Table IV C-22.  The  dose from direct  and  scattered  radiation  should
            be "Total Body" rather than "GI  Tract".

IV C-112    Table IV C-33-  Heading should read Man-Rem/Year.

IV C-113    Paragraph 2.   It is  stated that "The most significant difference
            in man-rem does occur as a result of water ingestion for  river-
            sited boiling  water  reactors."   While water ingestion shows
            the largest percentage change,  differences in dose  from other
            exposure pathways are more significant,  even  though the percentage
            change may be  smaller.

IV C-113    Paragraph 5.   First  sentence should  read "The transportation of
            fresh fuel.  .  .".

IV C-11A    Paragraph 2.   A more  typical  effluent cleanup system should be
            employed so  that infant thyroid  doses  are typical of that normally
            expected.

IV C-115    Paragraph 3.   The statement that  "At worst, some SGR fuels exhibit
            as much  as a  1k% increase  in  the  iodine  thyroid dose source. . .
            more typically.  .  .a  10% increase" is  not consistent with
            Table IV C-3&,  which  shows a  maximum increase of 8% and typically
            no increase  in  iodine dose source.

IV C-116    Paragraph 1.  The last  sentence  should refer to Table C~37.

IV C-117    Table IV C~37.  This  table  is  confusing because  of the comparison
            of different plutonium  types  at  differing exposures.  Are the
            Pu-2 - 3 and Pu-1 - 2 cases  selected  for  the calculation of the
            element  dose ratios  the  most  limiting cases?

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IV C-120    Table IV C-40 and IV C-^l.   In  view of  the  difference  in  inventory
            ratios(Table IV C-37),  why are the radiological  consequences
            of postulated accidents  identical  both  with and without plutonium
            recycle.

IV D        Chapter IV-D assumes that  glove-box type operations  will  continue
            to be the design basis  for  MOX  fabrication  facilities.  The
            accuracy of this is questioned  in  that  higher  radiation and  neutron
            fields are anticipated  in  the future with the  use of plutonium
            containing higher percentages of the heavier isotopes.

IV D~3      GESMO assumes that eight fabrication plants are operated  in  1990
            while only five would be required.   While there  is likely to be
            some overbuilding, the  greater  than 50% excess capacity seems  large.

IV D~3      Paragraph 4.  The 1990  release  should be specified as  the annua1
            release.  Do annual dose commitments include Beta dose  from  Pu-24l?

IV D-l»      Are Beta doses included?

IV D-6      Paragraph 1.  The enrichment of PuO- fuel may  be  greater  than  5%,
            and the diluent may be  depleted or  slightly enriched uranium
            rather than natural DO..

IV D~9      Paragraph 6.  The production of M0_ fuel rods  by  a combination of
            chemical and mechanical  operations  would seem  to  be  independent
            of the installation of  equipment at reprocessing  plants to convert
            plutonium nitrate to a  solid.

IV D-13     Paragraph 3-  Depleted  or  slightly  enriched uranium  may also be used
            in place of natural U0?.

IV D-17     Paragraph k.  Enrichment of PuO» may be greater  than 5%-   The  first
            sentence should read ".  .  .enough  fuel  for  about  25  reactors
            operating at the VI5% SGR  loading.

IV D-20     Paragraph 5.  Slightly  enriched uranium may also  be  employed.

IV D-21     Paragraph 2.  Error in  syntax.

IV D-26     Paragraph 2.  Proven technology may exist for  solidifying Purex
            wastes, but AEC burial  and  transportation requirements  have  not
            been formulated.

IV D-26     Paragraph 7.  9 x lo"6  yC_i_ H/sec

IV D-31     Paragraph 2.  Isn't 1 rem/yr used  in the AEC for  interpreting
            "as-low-as practicable" limits  for  personnel exposure?

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IV 0-32     Paragraph 6.   What is the basis for estimating airborne releases
            of plutonium?  Why are releases expressed in  alpha curies
            only;  30-50% of dose- from LWR plutonium comes from beta of Pu-2^1.

IV D-33     Table  IV D-8 also indicates alpha curies only.  Do estimated
            doses  include beta effects of Pu-2^1?

IV D-37     Fabrication of MOX fuel  may require some operations in remotely-
            operated eel 1s.

IV D-38     Is the beta dose included in Table IV D-11?
                                                                    _Q
IV D-39     Paragraph 2.   The value  stated for filter efficiency (10  )  is  in
            error; This is the transmission factor.   The  basis or reference
            for this value should be indicated.

IV D-39     Paragraph 1.   Basis for  filtration efficiency and air loading
            should be given.

IV E-2      Paragraph 1.   Specify "Annual requirements in the year.  .  .".

IV E-5      The paragraphs on reprocessing facilities are outdated and should
            be revised.

IV £-7      Paragraph 3.   Mixer-settlers are used extensively;  centri fuga1
            mixer-settlers aren't.

IV E-l'j,     It appears that iodine removal  should be discussed.  Iodine
15.16       removal  is indicated in  Figure IV E-6.

IV E-16     Paragraph 2.   Last statement unclear;  throughput instead of
            throughout?

IV E-25     Table  IV E-12.  The annual  dose commitments appear to be high
            compared to similar numbers in  earlier environmental  statement
            submittals and the EPA Environmental  Analysis Report,  EPA-520/
            9-73-003D.

IV E-26     Paragraph *t.   What is the basis for the statement "the isotopic
            composition of uranium isotopes is somewhat less biologically
            hazardous with Pu recycle than  without.  .  ."?

IV E~30     Paragraph 1.   Why is the critical!ty  excursion 10 times  worse
            in fuel  reprocessing than in the fabrication  process  (10   vs.
            10^° fissions)?  No justification is  given for the difference.

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IV E-31     Paragraph 2.   Syntax error in second sentence.

IV F-2      Paragraph 2.   What is the basis for the statement "These values
            (9 and 11 % reduction in uranium mining and enrichment demand)
            are significantly less  than the theoretical  15% reduction
            in uranium consumption. . ."?

IV F-6      U,0g Costs in Table IV  F-3 should be $/lb.  Although the
            footnote  of Table IV f~3 notes that these costs are the costs
            at which  uranium could  be produced, rather than the sales price,
            greater emphasis should be given to this distinction  since the
            sales price may be 50-100% higher.

IV F-15     Paragraph 1.   The decrease in facilities (175 underground mines
            and 13 open pit nines)  is not consistent with Table IV F-k
            (total decrease of 180  facilities).

IV F-29     Paragraph fr.   ". . .studied including:  (1)  Phase.  . . .".
IV F~32     Table IV F-6.   Are the total  electrical power needs for added
            capacity supplied by gas centrifuge  plants  in addition  to or
            in place of the requirements  for gaseous diffusion plants.
            Why aren't the "Aneeds" for diffusion and centrifuge
            plants in the  ratio of ten assumed in the basis given in the
            footnote?

IV F-33     Paragraph 7.   The reference to Table IV F~5 is incorrect; the
            reference should beto TableIV V-6  or 7-The minimum range of
            electrical energy required (75 million megawatt hours)  seems
            low and cannot be obtained from either Table IV F-6 or 7-  The
            quoted values  of coal  consumption (^4.8 and 39-9 million metric
            tons without and with  recycle respectively) are not consistent
            with Table IV  F-?.-

IV F-3A     Paragraph *t.   The next to last sentence should read "Small
            radiological  releases  from the diffusion complexes, consisting
            only of uranium and uranium daughter products, .  . .".

IV F-36     Paragraph 1.   The quoted reduction of particulates and oxides
            of nitrogen by about 65,000 metric tonnes each is not consistent
            with Table IV  F-? which shows a 50,000 MT reduction.  The 1.6%
            reduction in chemical  effluents is not consistent with the 1.5%
            redaction in coal combustion  quoted  on page IV F-35-

IV F(A)-1   The total for no Pu recycle of the water discharged to ground
            should read 108,000.

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IV G~9      Paragraph 6.  Depleted or slightly enriched uranium may also
            be employed.

IV G-10     Table IV G~3 shows a 30% increase in dose to transport
            workers and a k~l% increase in dose to the general  public
            for transportation of PuO- to storage with Pu recycle;
            in view of the order of magnitude reduction of the quantity
            of plutonium going into storage, this increase seems
            unl i kely.

IV G-12     paragraph k.  Depleted or slightSy enriched uranium may also
            be employed.

IV G-13     Paragraph 3-  Since the reduction of transportation steps  prior
            to uranium fuel fabrication could have easily been factored into
            the analysis, why was this conservative simplification  made.

IV G-23     Paragraphs *t and 5.  Depleted or slightly enriched uranium
            may also be employed.

IV G-24     Alpha waste associated with obsolete equipment or decommiss ioni ng-
            related rubble (masonry, structurals, etc.) which will  not fit
            into drums will have to be specially crated and sealed  to  prevent
            dispersal of radioactivity.  This type of container may be unsuitable
            for ultimate disposal, but will  be required for many years of  interim
            operations.

IV G-30     Une fr, Paragraph 2 should include sorption,  followed by shipment  to a
            central facility for incineration,  and chemical  destruction of
            organic bulk followed by recovery of Pu from residues or burial.

IV G-39     A more comprehensive analysis of risk may show that PuO? shipments
            in certain areas can be safeguarded more effectively by point-to-
            point aircraft shipment, using either rotary or fixed-wing
            equipment rather than by road shipment.   This  statement is made
            with full recognition of recent  federal  legislation to  ban all
            aircraft shipments of Pu.


IV G-42     Fi rst  sentence.   Modify to show  dose  if  half of  fuel  shipments
            are made by truck.

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   118

Page

IV G-^     Performance of  PuO-  (and  Pu  nitrate)  shipping  containers  during
            transportation  accidents  should  reference  more recent papers by
            U.S.  (BNWL)  and French  (CEA)  authors,  in Sessions  12A and  11 of
            the Fourth  International  Symposium on  Packaging and Transportation
            of Radioactive  Materials  (Sept.  22-27)  197^-   AEC-sponsored
            work at BNWL showed  that  the Pu  transportation risks are  three orders
            magnitude  less  than  for meteorite hits,  if  current-day  fireproof
            packaging  is used.   Prior evaluations  should be re-ranked  and these
            new findings be incorporated in  Table  IV-G-9 to give proper
            perspective to  the  low  risk  of shipping  Pu  nitrate  (if  correctly
            packaged).   Overseas processors  are  expected to continue  shipping
            Pu nitrate  because of equivalency of risk  compared  to PuO_.  See
            author's final  manuscripts as presented  at  September 22-2/ meeting
            in addition to  CONF-7^0991.

IV G-^8     Actual  data  on  package  closure from  an AEC-sponsored survey should
            be referenced and used.   See reference above.

IV G~5^     In paragraph 3-,  use of qualitative  phrases such as "very  small",
            "highly unlikely", etc. should be supplanted by probability ranges
            like 10^ to 10.7 per  year  where assessments  have already been published.

IV G-51*     I tern (e),  Paragraph  1,  last  sentence should say "oxide  or  other
            form shown  to be  of  equal or lower safeguards  and  transportation
            risk".   AEC  criteria for  oxide vs. nitrate  shipment need  to be
            re-examined  in  the  light  of  recent findings coupled with  safeguards
            i mpa c t.

IV G-55     Accident risk statements, such as  last sentence of  item f.
            are not sufficient unless the phrase "in the vicinity of"
            are made clear  by example.   Isotope  dispersal  by waterways from
            a  "major impact"  site could  be geographi ca.l ly  far-reaching.
            Also amplify results of  local confinement  and  cleanup opportunities
            if a "major impact"  accident occurs.

IV G-56     Last paragraph  under "Routing".  The railroad  associations have
            passed  recent regulations and recommendations  which affect the
            routing of  rail cask trains.  These  details should  be explained
            in the  GESMO if AEC  and  industry perceive  them to  be  long-lasting
            and relevant to the  routing  issue.

IV G-59     Line k  suggests rewording as follows:.  . ."assemblies,  and limit the
            shipment of separated plutonium  to only  that quantity which is
            needed  to balance the manufacturing  loads  (peak and valley effects)
            within  the  network of fabrication and  reprocessing  facilities."
            Delete  statement  referring  to "elimination  of  need  to ship
            separated  Pu" because this  idealistic condition could not  be
            maintained  at all times.   Even  if  idealized  IFCF siting could
            be achieved in  20 years,  the transition  period would  require
            interplant  shipment  of  plutonium.

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Page

IV H-2      Paragraph I — insertion in line k  "to increase the total
            transuranium alpha activity sent to burial  by  a factor  of  five.
            Emphasis in  subsequent statements  should be on safe  long-term
            alpha management,  not just on  heat generation  and  handling.

IV H-2      Paragraph k  and IV H-10,  Paragraph 5-   In order to keep the  volume
            down to estimated  levels  in GESMO  report, current  proposed AEC
            rulemaking must be changed to  redefine exempt  low-level alpha
            wastes by a  new operationally-acceptable criterion (a)  because
            10 nanocurie per gram level is not practical  to measure and
            administer and (b)  because AEC recommendation to  include all
            waste generated in "controlled areas"  would inflate  the burial
            volume  and  cost out of proportion to the benefit, especially
            considering  $100 per cu.  ft.,  projection for  transportation
            and long-term management.

IV H-3      60 megacurie difference in hull burial  is explained  on  Page  IV H-20,
            but long-lived alpha buried with hulls  changes in  opposite
            dirrection from activation products,  therefore,  actinide curie
            comparison should  be given in  separate line.

IV H-4      No explanation is  given for the maximum credible accident and
            why it involves only one  waste canister.   This section  is  too brief.
            The accident safety issues are not adequately  covered.

IV H-15     Table IV H-3 should show  separate  subtotals for long-lived alpha
            and beta activity.

IV H-21     Footnote-''" should  be reworded  to state  the  end result required,
            i.e.,  quantitative Teachability and devitrification  stability
            of "glass" and then discuss generic aspects of one or more
            preferred solidification  process routes,  rather than deferring
            the analysis.

IV H-41     See note on  IV H-21, also.   The conversion  to  glass  would require
            opening and  emptying of the RSSF canisters  or  total  fusion of
            canister plus  contents.  Discarded canisters disposal is not
            menti oned,

            In last paragraphand on  Page  IV H-^2,  line 6,   statements on
            shielding at RSSF  do not  seem  consistent  with  high neutron and gamma
            streaming in storage cask configuration  shown  on Page IV H~36.
            A different  air duct configuration would  be needed to reduce
            surface dose to 2  mr/hr.

IV H-^3     Paragraph 5  "milligrams"  and "mi 11icuries"  require  specific
            definitions.   If this level  of alpha  release  is  meant,  then  it
            is high relative to MOX fabrication plant normal stack  release.

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IV H-^6     What is the environmental  effect of meltdown in  a  canister?   Can
& J»7        the discharges be controlled.   Which concept for RSSF  is  the
            safest.  Which is most tamper-proof and fail-safe?   Such
            sondierations  when left to the imagination  of  the  public reader,
            are likely to lead to confusion.

            Statements made in WASH-1539 "Environmental  Statement  - Management
            of Commercial High Level and Transuranium-Contaminated Radioactive
            Waste" page 2.5"2 indicate that RSSF design  includes protection
            against man-made intervention,  assumed  to mean with malicious
            intent.  What is actually  provided  to prevent dispersal by sabotage?

IV H-57     The concept of storing all plutonium waste at remote RSSF's with
            central incinerators  should  consider at  least one  eastern site-
            to serve the fuel fabrication and reprocessing operations in  this
            region of the U.S.

IV H~59     Last paragraph.   Volume reduction should  be  changed to 3  to k
            because field experience survey shows secondary  scrap  generation
            (filters,  refractory,  etc.) affects net volume  reduction, especially
            with incineration.

IV H-61     Paragraph 1.   Rationale for considering only remote desert region
            is not clear for Pu waste  RSSF.

IV \-k      Suggest deleting paragraph 3  in its entirety since soft  gamma
            contribution from Am-2^1i s a minor factor,  considering that  the
            new generation of fabrication  plants have no choice except to
            be well-shielded and  the Am-24l problem will be  taken  in  stride.

IV 1-5      Line 1.  After critical!ty prevention add "high  accuracy  inventory
            measurements for safeguards compliance".

MIC       Change the word "when" to  "if"  in line  1  of  the  last paragraph.

IV 1-6      The storage inventory  without recycle should be  changed
            to show buildup starting in 1978 net 1976 since  there  will
            be no reprocessing carryout until about 1978.

IV J-6      Improvements in control of occupational exposure during
            uranium mining and milling have not been  listed  as  to  effect
            on fifty year dose commitment.   This information should be
            added for balance.  Likewise,  the impact  of  several inadvertent
            releases from reprocessing plants or mixed oxide fabrication
            plants have not been  assessed and .listed  in  the  fifty  year dose
            commi tment.

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IV J-7       Item C, Line 7.  Plutonium fallout of 320 kilocuries ratioed
             to the area of the United States should be given in addition
             to the worldwide fallout.

             Paragraph *t.  After reference 2  the text should indicate
             an analysis by C. R. Richmond which was published in 197^
             following the Second Annual Life Sciences Symposium at
             Los Alamos during May.

IV J-16      Transportation accidents should be included in this table.

IV j(a)-4    Most resuspenslon data have been based on experiments in arid
             terrain.  There  is a lack of useful data in heavily vegetated
             areas such as the Middle Atlantic Region.  Resuspension data
            with uranium shown on Page IV J(a)-6 may indeed be conservative
             but considering  that the bulk of the population is located
             in the eastern half of the country, more realistic data
             should be made available.

IV J(c)-7    \tern 2.  197^ publication by C. R. Richmond,  LASL, should
             be listed as a primary reference since it deals with the
             hot particle problem.

IV J(c)~9~   The text is silent as to the toxicity of plutonium when combined
17          with uranium in a mixed oxide compound.  To date there have been
             no studies on the radiotoxicity of various mixtures of plutonium
            with uranium.  Although only a small  percentage perhaps 5-15% of
             the total tonnage of mixed oxide being processed in the year
             1990 represent solid solution mixed oxide in  the finely divided
             processing stages, if this combined form followed a pathway which
             resulted in adverse effects in regard to either bone or other
             critical organs,  it should be identified at an earlier enough
             date to appropriately adjust the models.  To  our knowledge
             there are no animal experiments currently funded in the United
             States which will evaluate the effect of the  mixed oxide particle
             itself.  Uranium and plutonium would be expected to
             disproportionate  in the body fluids and the results may be
            more complex to interpret and apply than for PuO-7 or other
             100% plutonium compounds.

V-6         Second paragraph.  Improved statistical treatments should probably
            be included as one of the means of improving  safeguards systems.

V-6         Last paragraph.   While it is stated that "a early evaluation
            of tne concept is necessary" GESMO should recognize that the
            decision is already late.  One manufacturer is currently faced
            with siting  a mixed oxide  fuel  plant  requiring  "large  capital
             investments" for  which considerable engineering has been done.
            Perhaps there should be an  acknowledgment that earlier plants
            may not be co-located,  but  that as the industry matures co-location
            v-ould improve  the overall  safeguards.   This  would put the concept
             i.'ito proper perspective;  it should, not be a "go--no go" situation.

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Page

V-7         Section 6.  This does not appear to acknowledge the  considerably
            increased difficulty of making fuel with "spiked" plutonium.

V-28        Bottom of page.  Here and in other sections of the GESMO   the
            entire approach seems to be based on hardened  manufacturing
            facilities.  It would be highly beneficial  (and probably
            a necessity) to address the problem of existing facilities.

V~39        Last paragraph.  A similar listing of the disadvantages would
            seem to put things in better balance.

V-J*0        Paragraph 3.  The weight of shipping containers for  LWR plutonium
            oxide will probably range from 2500 to 5000 pounds due to
            shielding and confinement requirements.

V-^l        Last paragraph.  Some estimate of the probable costs of these
            systems would be appropriate.

V-AA        Paragraph 6. This approach (incomplete separation) is not
            consistent with previous statements which imply conversion  would
            have to be done at the reprocessor due to the  ban on plutonium
            solution shipment.

V-kk        Paragraph J.  The implication  is that only  additional shielding
            is required for fabrication of spiked fuel.  In fact, entire
            new processes would have to be designed and QA activities would
            be greatly complicated.  It is entirely conceivable  that  there
            may be..no practical way to fabricate fuel under these conditions.

V-l»5        Paragraph 1.   It seems much more likely that the fuel fabricator
            would be more concerned with health effects than a bomb builder.
            The population exposure as related to manufacturing  personnel
            should be taken into consideration.

V-^5        Paragraph 2.  An increase in fabrication cost  of $500/kilogram
            (wh i ch isprobably not at all  unrealistic)  would likely  render
            plutonium recycle uneconomic.   Also, the effects decreasing fuel
            reliability (consequently enhancing population exposure due to
            fuel failures) because of decreases in the  effectiveness  of the
            quality assurance programs is  not addressed.

VII-2       Paragraph 1.  The lead sentence indicates that not all differentia'
            effects are adverse.  However, the discussion  is limited  to only
            those effects which are adverse to plutonium recycle. Although
            such an approach is undoubtedly conservative,  it serves  to
            weaken the overall impact statement in that it fails to  identify
            both favorable and adverse effects.  It is  believed  this  chapter
            should be expanded to identify both the favorable and adverse
            unavoidable environmental effects assignable to plutonium recycle
            as they differ from uranium fuel.

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Page

VI1-12      Paragraph 4.  This indicates "additional measure to further limit
            any adverse effects may be possible. .  .".  However,  the specific
            need for implementation of each approach is not justified
            in the report.  Such quantification is  believed essential for the
            final impact statement.  Specifically,  citing criteria for
            recycle plutonium facilities, guidelines on "as low as practical"
            releases for the facilities, improved safeguards,  additional  spent
            fuel shipment cask safety design criteria, long term waste
            management criteria,  and possibly other items must be prudently
            developed and established prior to the  accurate assignment of cost benefits
            to the various alternatives considered.

VI1-14      Paragraph 6.  The meaning of "action levels" is unclear.

VI1-15      Last paragraph.  "Fuel melt down" probably refers  to clad melting.

VI I 1-8      Paragraph k.  Spent fuel transportation plus reprocessing cost
            of approximately $35/kilogram are undoubtedly too  low.

VII 1-13     Paragraph 3-  Under the alternative of  reprocessing spent fuel
            immediately and storing for later use,  the build-up of Am in  the
            recovered plutonium during storage and  its associated impact
            seems to be ignored.   Americium builds  up in the recovered products
            through the decay of ^Ipu and in turn  decays with a  very strong
            alpha emission.  The concentration of americium in the stored
            plutonium is dependent on the elapsed time since reprocessing and
            the isotppic concentration of 2^1pu in  the plutonium.   Typical
            plutonium recovered from reprocessing LWR fuel which  is stored
            much in .excess of one year prior to fabrication no longer can
            meet the current industry's specifications on americium concentration
            for recovered plutonium.  The presence  of americium in the plutonium
            and its associated strong alpha emission,  imposes  a significant
            radiological handling problem to the mixed oxide fabricator.
            Consequently,  the heed for chemical separation of  the americium
            from the plutonium is required prior to mixed oxide fabrication.
            The major disadvantages of this additional  separation step are:

                 (1)   the production of additional  plutonium bearing
                      wa s te.

                 (2)   the potential of introducing  additional  chemical
                      impurities  in the plutonium effluent.

                 (3)   the need to reconstitute the  plutonium back to
                      its original oxide form for either shipping or
                      uranium blending requirements.

                 (k)   the major economic impact of  the additional
                      separation  step.

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 124
VI11-13     When assessing  this alternative  in the final impact statement,
 (Cont'd)    both the  cost benefit analysis and the environmental consequences
            of  this additional requirement should be considered.

VI 11-16     Paragraph 3-  The use of depleted uranium as a carrier for
            the plutonium should be addressed.  Utilization of tails
            assay materials, currently an unused waste from the uranium
            enriching process, should  result  in the significant benefits
            to  this alternative.

•VI I I-16     Paragraph ^.  This alternative would also have the same potential
            benefits  of using depleted uranium as a carrier.

VI I 1-1?     Paragraph 2.  Alternative 6   seems to be discussed in paragraph i.
            not j.

VI I 1-21     Paragraph 1.  A mixed oxide cost of twice uranium fuel fabrication
            is probably too low even considering current regulations, and
            is  likely to  increase rather than decrease as additional regulations
            are implemented.  A cost of three times uranium fuel, over the
            entire  time period (a surcharge  of two times) should be subject
            to  less argument.  (The recent public bid openings at TVA
            and LADWP provide more concrete  information on current pricing.)
VI 11-21
CtllU UMLJWr (JIUVIUC IIIUI C UUIIUI C LC I II I Ul Hid L I UH Ull <~UI I dl I. pill.

Paragraph 2.  The $35/kilogram number for reprocessing and
spent fuel transportation needs to be updated.
VI I 1-33      Paragraph A.  The  long  term plutonium storage costs appear
             to be exceedingly  low.  The reason for  this  is not  immediately
             clear and is  recommended  that  the bases  for  the estimates
             be further explained.

VI Il~37      There is some question  as  to the reasonableness of  the estimated
             value of plutonium.   Perhaps AEC could  indicate the basis on
             which these estimates were made.  Also,  it would be desirable
             to include a  statement  on  the  sensitivity to a plus or minus
             change  of $l/gram.

VIII-A8      Paragraph 2.  See  comments under VI 11-21, Paragraph 1.

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VI I  1-65     Paragraph 1.   The unit costs of separative work,  U,0o,  and other
            factors used in the calculation of plutonium value need  to be
            reviewed and revised to correspond with recent changes  in  the
            industry.  Refer to other comments related to unit costs,  escalation,
            and sensitivity to a plus or minus range when estimates  are used.

VII1-65     Paragraph 2.  The fabrication cost differentia] discussed  in this
            paragraph does not relate to earlier parts of the  GESMO  that
            mention up to $500/Kg increase for safeguards concepts,  such as
            spiking the plutonium.   It would be desirable to  track  all
            cost-related items through the entire report to assure
            cons is tency.

VI I  1-69     Section C.  This paragraph is confusing.  It is suggested  that  it
            be rewritten to relate  more closely with the other paragraphs
            discussing integrated fuel cycle facilities.

VI I  1-73     Sect!on D.  The cost to protect against theft of fresh  fuel  and
            the cost of additional  hardening of barriers against theft of
            plutonium, each estimated at $1,000,000 for each reprocessing
            plant and for each mixed oxide fuel fabrication plant,  is  suspect.
            It is suggested that the discussion be expanded to indicate how
            these figures were derived.

VI I  1-75     Section N. The first sentence of this paragraph is not consistent
            with earlier parts of the GESMO, which indicated that costs would
            more than double when using "spiked" plutonium.  It is suggested
            that the report be reviewed for consistency in matters of  this  sort.

XI -        The capital cost of facilities generally looks low.  Since the
General     major contributor to the benefits of Alternatives  3 and  ^  are the
            savings in investment in Enrichment and Mining-Milling  facilities,
            this modification will  not affect the results.

            One item open to question is the capital investment needed at
            a nuclear power plant to receive, store, and use Pu recycle fuel.
            It is not clear where this has been included.  If  one assumes
            it could add $5 million to the cost of each reactor recycling
            plutonium, the added costs to reactors is $600 million.   If this
            figure is appropriate,  the impact is small but is  indicative of
            hidden costs which may  need to be further investigated as
            licensing regulations evolve.   Credibility of the  report will
            be enhanced if all such cost items are identified.

XI-22       The cone 1 usion paragraph, should be expanded to discuss
            the apparent inability  of the nuclear industry to  get
            reprocessing and manufacturing facilities constructed.
            The problem areas should be outlined.

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 126
Page

Xl-2lf       Table XI-10.  The 1990 $12.83 figure  for  the  U  Og  price  in  the
            terms of unescalated 197^ dollars  is  low  and  will  distort  the
            economic comparisons.   This  is  indicative of  the  low  cost
            numbers used in the report.   It is  recognized that there has
            been a dramatic increase in  costs  related to  various  components
            in the fuel cycle during this last  year.   For this reasons,
            all cost numbers and related economics  should be  updated.
XI-29       Table X I- 1 1 .   The previous  comment  also applies  to this  table.
                                              the  report  need  to  be  update
                                             ty of the  economic conclusions.
                       .
            All U,OQ cost projections  used in  the  report  need  to  be  updated
            in oraer to enhance the credibili
            Paragraph 3.   Please expand the  discussion  to  point  out why  the
            plutonium storage facilities would  be  similar  to  high-level
            waste disposal facilities.

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                                                                             127
                               ATTACHMENT A

            Examples of Overconservatism in Dose Calculations^


1.  The use of the semi-infinite cloud model for gamma dose may
    approach being correct at some great distance from the point of
    release, but it is not correct at distance of usual  interest.
    The resulting degree of conservatism depends on whether the
    release is from a stack,  a roof vent, or a lower elevation.  The
    correct model to use is the finite cloud gamma model.
    (p. IV J-(A)-2)

2.  The X/Q values used are based on ground level release  assumptions.
    Recent tests have shown that roof vent diffusion is  much better
    than previously assumed by the AEC.  (p. IV C-95)

3.  The submersion total body dose from noble gases calculation
    was applied to Gl  tract,  thyroid and bone.  The revised
    Appendix I  (2/20/7*0 does not apply submersion dose  to
    Individual  organs.  (p. IV C-103)

k.  Details of iodine inhalation dose calculations are not evident  and
    need to be reviewed.  They apparently include assumption of out-door
    exposure at fence post all year.  (p. IV C-103)

5.  The iodine milk doses include all the overestimates  which were
    shown to be objectionable at the ALAP hearings, namely
    (p. IV C-103):

    a.  Iodine chemical  form-overestimate by a factor of 2

    b.  Roof vent diffusion-overestimate by factor of  10

    c.  High Iodine deposition factor-overestimate by  factor of 2

    d.  High transfer; grass  to milk, overestimate by  factor of 2

    e.  Assumption of fence post cow and baby factor of  2  to 100
        depending on actual cow location and milk usage.   (The
        AEC abandoned fence post cow concept on 2/20/74.)

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       Atomic Industrial Forum, Inc.                                                          Attachment 3 Of 4
       Public Affairs and
       Information Program
      128
SAFEGUARDS-THE INDUSTRY'S ROLE AND VIEWS

                         Carl Walske
                          President
                 Atomic Industrial Forum, Inc.
The U.S. nuclear industry, or nuclear energy community—whatever we may call it—consists of hundreds of compa-
nies and other organizations interested in commercial applications of nuclear energy. Most, if not all, of them are
members of the Atomic Industrial Forum—some 625 as of today. Their opinions naturally vary on any issue which
affects the development of nuclear energy, though oftentimes there is a general consensus view. So it is with the
matter of safeguarding nuclear material of weapons grade—or special nuclear material.

While the Forum has not polled  its membership on safeguards questions we on the staff have had a number of discus-
sions with a good sample of responsible people from our member organizations. These include people from fuel
reprocessors and fabricators, utilities, reactor manufacturers and transportation companies. On the basis of these dis-
cussions  I have some feeling for what "the industry" is thinking about safeguards. As I talk I  shall also mix in my
own views, identifying them where they may be special to my own experience.

First of all, the industry is proud of the record to date. There have been no diversions. There has been no sabotage.
There have been a few cranks, or other malicious persons, who have made threats. Most of these, unfortunately,
probably were inspired by the publicity which  has been given the subiect. In the view of many of us, the publicity
was unfortunate, but that's water over the dam now and we have to deal with the situation as it is.

I said  that the record to date is perfect and that's true. Of course, the quantities of plutomum and highly enriched
uranium  handled in  the industry have been mimscule by comparison with what lies ahead as we move toward the
eighties. The industry knows this and fully appreciates that strengthened  controls are necessary to deal with the large
amounts  of special nuclear materials which we  anticipate.

Now, is it possible to protect special nuclear material sufficiently so that reasonable people will agree that any risk
from diversion or sabotage is negligible' I believe that it it and at a cost which, although high, need not be so high as
to cripple the economics of nuclear power.

The current safeguards system, as spelled out in new AEC regulations, is a clearly strengthened one as compared to
what we  had just a year ago. I  believe it goes a  long way towards what we need. At the same time there are certain
aspects of this safeguards  system which can be  further improved. Some are appropriate to the industry's area of
responsibility, some to the government's area. The balance of this paper discusses these possible improvements. They
are, I  believe, supported generally by the  nuclear industry

I shall be talking about the security personnel with the special nuclear material, physical protection, accounting and
monitoring of special nuclear material m plants, communications, the command function, reinforcements  and intelli-
gence information  All these are necessary and  complementary in building a first-class protective system for any-
thing—whether it's gold bullion or special nuclear materials. They are necessary for special nuclear material at a fixed
installation or in transit.

Guard forces and physical protection with special nuclear material can  provide a first line of defense. It is  not neces-
sary that this line be impregnable, provided it is backed up with a reliable communications system which can be used
to call up adequate reinforcements from a friendly command. Accounting for and monitoring of special nuclear
material, ideally on  a current basis, can signal departures from normal conditions, that is, sound a warning that some-
thing  has gone wrong. Intelligence information, when available, is even better; it can signal in advance that something
is about to  go wrong.

Let's  talk now about guard forces. First of all,  most people in the industry would prefer to manage their own, other
things being equal, but there is a  problem. AEC regulations call for the use of armed force, if necessary, to prevent
diversion or sabotage of special nuclear materials. In my own view this  is appropriate, but in the civilian nuclear
industry  it  is essentially unprecedented. It brings with it a responsibility beyond the experience of most commercial
organizations and one which threatens with a morass of legal liabilities. However, there is a compromise on the ques-
tion of who should provide and  manage guard  forces. The compromise approach is to divide functions between those
requiring the use of  armed forces and all others. The former should be  performed by governmental forces; the latter
by security personnel directed by the company responsible for the special nuclear material.

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                                                                                                   129
For example, at fixed installations, monitoring and searching, if necessary, of plant personnel; materials accounting
and monitoring; and maintenance and testing of physical security systems can all be done perfectly well by personnel
under the plant management. In fact, they can be done with  less upset to plant operations and to plant personnel-
insiders dealing with insiders.

However, should the situation call for the use, or threatened  use, of firearms to deal with a security problem-
attempted diversion or sabotage—properly authorized public law enforcement forces should be brought into play.
Such forces may be stationed at or near the fixed installation, or they may be on call from their normal station near-
by. Obviously, they must be in  a position where they can provide a timely reaction. For most fixed installations
local police  units may prove to  be the most satisfactory.

Guards  accompanying special nuclear material in transit must be able to meet force with force. Local police forces,
in general, will not be able to respond rapidly enough to  deal with attempted diversion and sabotage. Largely for
this reason many in the industry feel that such guards must be under governmental control and must be authorized
to act in emergencies under governmental orders. This might be done by using a special, governmentally organized
force, or by civilian guards under contract to the government.

In all cases—material at fixed installations or in transit—guard forces should be well trained and required to exceed
minimum physical and mental qualifications. They should be requalified by government inspectors on a periodic
basis. Most importantly, guards should be given clearly defined authorities to govern their actions in the various
emergency situations that could arise.

Physical protection of special nuclear material may include fences, lighting, vaults, and detection and alarm systems
at fixed installations; and for material in transit it may include heavy containers or armored vehicles. These comple-
ment the assigned guard personnel. In general, the industry has accepted and agreed with  AEC requirements for
physical protection. There should, however, be a continuing review of these requirements, on the one hand, to see
that no "Achilles' heels" are left in the protection systems and, on the other hand, to eliminate costly features which
make only marginal additions to security.

AEC regulations currently permit  shipment of special nuclear material—as defined in 10 CFR Part 73—either m a
conventional truck  with an armed escort vehicle manned by two armed guards, or in a specially designed truck or
trailer without an armed escort. The design of such a special truck or trailer must include a capability for immobili-
zation of the vehicle and must provide armor and other deterents to physical  penetration. In a properly designed
overall protective system the deterence to  physical  penetration will allow sufficient time for reinforcements to
arrive at the scene of a diversion attempt.

In general, the industry is sympathetic with the armored  vehicle approach when it is applied to special nuclear mate-
rials in a sensitive form suited to easy movement  and direct usage in nuclear explosives, that is, separated highly
enriched uranium or plutonium in the metallic or oxide form. However, when either of these fuels is contained in a
fabricated fuel element, they are awkward to transport and they must be separated chemically or physically in order
to be used as ingredients in a nuclear explosive. Thus, the industry's feeling is that for truck shipments of separated
or concentrated special nuclear  material, we should phase over, as practical, to the use of the armored vehicles.  Until
this is achieved  and while conventional trucks are still in  use, I believe that more than one armed escort vehicle
should accompany shipments and each escort vehicle should have at least two armed guards.

Shipments by air, where possible,  can generally be made  the most secure. I noticed recently that the JCAE's Conway
Committee has  recommended against plutonium shipments by air, except in cases involving national security. This
appears to me to be unfortunate. The risk of extensive aerial dispersion in a plane crash is certainly minimal. Careful
choice of flight paths and special packaging could reduce even this small risk.  It seems to me wrong to give up our
most secure means of transporting plutonium.

Shipments abroad of special nuclear material must provide for adequate protection until a shipment is safely in the
hands of its  intended recipient.  It goes without saying that precautions must be taken against hijacking and also that
recipients must be capable of protecting material in their custody.

Reliable personnel  are an absolute must if we are to have good security. Although security-type clearances are for-
eign to the civilian industry, nevertheless a clearance program appears appropriate. It would apply to all personnel
having access to significant quantities of special nuclear materials. The AEC has now obtained legislation necessary
for such a program. I believe the industry,  in general, understands the need for this and supports it.

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   130
Such personnel clearances should certainly reduce the concern of those—such as the author of the Rosenbaum
report—who postulate that "insiders", including senior management and operating personnel working within a facil-
ity or transportation company, could be involved in sabotage or diversion.

Furthermore, such cleared employees of licensees need be searched only exceptionally on entering or leaving protec-
ted areas containing special nuclear materials. Monitoring with instruments should suffice, with spot check searches
only infrequently. As I said earlier, any such physical monitoring or searching should be the responsibility of person-
nel employed by the plant management.

At the same time I must say that security-type clearances are not to be taken lightly. It is most important that our
society carefully preserve the  rights of its members. Security clearances can obviously be abused. It will be up to all
of us to guard vigilantly against any such abuse.

Much effort and much expense have gone into accounting and monitoring systems for special nuclear materials "in
process" in a plant. Presently  available techniques suffer from two  great faults: First, their accuracy is such as to
leave sizeable quantities of special nuclear material in a doubtful status; and, second, they report on losses only after
they have happened, not as they are happening.  All the same, the industry generally supports the rational application
of the  present techniques. There is, however, a strong feeling that it is illogical to incur greatly increased costs by
shutting down plants frequently for overall inventories and by reducing allowed inaccuracies beyond what is straight-
forward. Unfortunately, the answers from the present system will be inaccurate, whatever the effort expended.
Therefore it is sensible to use  the present system only for what it is capable of doing—that is, detecting gross losses
or diversions.

Beyond the present system, we may hope to have real time and accurate accounting someday. I don't know how
achievable this may be, but it is certainly the right objective. Even  now we can use special precautions whenever
there are inter-area transfers at a plant. These could include independent weighings,  checks of seal integrity, and
other routine accounting actions and measuring  actions to aid in the prompt detection of diversion.

Let us  turn now to the question of communication systems. As I said earlier such systems serve the purpose of per-
mitting local guard forces at a fixed installation  or with a shipment to call  for assistance, that is, to  call for reinforce-
ments. Obviously, such a purpose will only be met if the communications are highly reliable and if reinforcement
forces  are available for timely reaction from authorities having such forces at their disposal.

The AEC presently requires a licensee to maintain  communications between his so-called control point and the guard
forces  at his installation or with shipments containing special nuclear materials. Carriers must make advance arrange-
ments  to assure support from law enforcement agencies. For shipments the present system relies on (1)  the use of
radio-telephones which are not effective in large areas of the United States, although they are working well in pres-
ent operating areas; (2) local or state law enforcement agencies for  reinforcements; and (3) support arrangements as
can be made between such law enforcement agencies and the licensee.

There are several important improvements that should be made to  the present system. First, the communications
should be based on a federally operated, high frequency network. Such a network has proven highly reliable  in  main-
taining radio contact with virtually all  areas of the U.S. Second, a federal command  center, perhaps supported by
regional centers, should be established. It would receive and act promptly on reports of attempted diversion or  sabo-
tage involving special nuclear materials. Such a communications system and command center would be for both
fixed installations and shipments.

The federal agency responsible for operating the federal command  center should be  responsible for consummating
agreements with local and state police, the national guard and federal armed forces for provision of reinforcements.
As mentioned previously, effective local law enforcement agencies  are particularly well suited for responding rapidly
to incidents at fixed facilities. Generally, state and federal forces will be more effective for incidents affecting mate-
rial  in transit. The agreements will certainly involve state governors for state police and the national guard; they will
involve the President for federal armed forces. New legislation may be necessary to implement these arrangements. It
is my impression that this area of federal communications,  a federal command center and authority and implement-
ing agreements, is the single most important task facing us as we move to improve the protective system. You will
note that this, as I have presented it, is a task requiring the  initiative and leadership of the federal government.

A special type of reinforcement capability would be needed if a diversion attempt were to prove successful, that is, if
a diverter were  to escape the first line of defense. In this event retrieval of  the special nuclear material would be our
objective. A retrieval operation would  logically use nationwide intelligence information and therefore would best be
handled by using a federal force under federal direction. This might be basically an FBI operation under the Attor-
ney General.

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                                                                                                     131

    Intelligence information available to the FBI. Treasury Department, CIA, Department of Defense, AEC, and state
    and local law enforcement agencies will never be sufficient to forecast all threats that may be developing. However,
    the totality of information available to these agencies can be very helpful in reducing risks. It is not clear to me that
    a good mechanism now exists for the prompt reporting of such information to a central, responsible command
    authority of the type previously mentioned and, also, the prompt dessemination of such information to law enforce-
    ment agencies. If it is not being done well, as I suspect, it should be corrected.

    I have discussed a number of improvements that would strengthen our present safeguards system. The major new
    tasks are in the area of governmental responsibility, although I have mentioned some additional tasks for the indus-
    try. These would not, in my view, involve an appreciable increase in present safeguards costs. In fact, the AEC's new
    regulations—in effect since December 6, 1973, and now being implemented—went a long way to provide the neces-
    sary measures required of the industry

    As we look on ahead  to the future, the nuclear industry will continue to work with the AEC to employ more strin-
    gent methods and procedures. Safeguards cannot be static as the nature of the problem changes. Both industry and
    government must move forward together to meet their vital responsibilities in this area.

    My main points in this paper, aimed at strengthening our safeguards system are, I believe, generally acceptable to the
    nuclear industry. These points are:
 1. Local  guard forces and physical security measures should be sufficient to detect, report and delay attempted sabo-
    tage or diversion until reinforcements arrive.
 2. Guard and security forces at  fixed installations should be under the supervision of the plant management, except for
    those guards charged  with the use of armed force. These last should be governmental forces, or at least governmen-
    tally organized and supervised guards.
 3. Guards accompanying special nuclear material in transit should be under governmental control  and should be author-
    ized to act under governmental orders in  emergencies. They may, thus, be government employees or contract guards
    under government orders.
 4. Moreover the federal  government should  be directly and fully responsible for security of special nuclear materials in
    transit, coordinating and making  use of local, state and federal resources.
 5. For shipments of concentrated special nuclear material phasing over of conventional truck transportation should be
    undertaken, as practical, to the use of armored vehicles with immobilizing features. The design  of the transport
    vehicle should include a strong barrier against penetration, which will allow sufficient time for reinforcements  to
    arrive.
 6. Physical protective  features for special  nuclear materials should complement guard forces in such a way that no
    "Achilles' heels" are left,  but also so that costly features providing marginal additions to security are eliminated.
 7. Agreements should be consummated, as necessary, between the responsible federal agency and  local, state and feder-
    al officials for the prompt use of their forces when necessary. These agreements should include arrangements for op-
    erations  by a federal retrieval force and for exchanging threat information with law enforcement and other agencies.
 8. A federal communication system and command center should be created to support and coordinate the response of
    local, state and federal security forces in the event of attempted sabotage or diversion attempts at fixed installations
    or during transport.
 9. Improved real time accounting procedures should be developed and implemented, at which time the dependence on
    MUF and LEMUF for detection of diversion should be greatly reduced.

10. An employee clearance program should be established for licensee personnel who have accesss to significant quanti-
    ties of special nuclear material.

    I regret that adequate safeguards require so much government involvement, particularly by the  federal government.
    It would certainly be  preferable if the industry could handle this problem entirely "in-house". Unfortunately,  that
    does not seem to be a practical way to reach our objective of providing proper  protection to special nuclear materi-
    als. We must, it appears, proceed with an  industry-government partnership with each carrying out its role where it
    can do the best job.

    In conclusion, I want  to re-emphasize that the nuclear industry  recognizes the importance of protecting nuclear facil-
    ities and  special nuclear materials at fixed sites and in transit  We are confident that potential risks  will be held at
    such a low level that they  will be acceptable in the judgment of  reasonable people.

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      132
                                                     Attachment  4 of 4
                   Ad Hoc Plutonium Recycle Task Force
                                  of tha
                  Nuclear Fuel  Cycle Services  Committee
D, R. da Ha I as (Chairman)
Emanuel Gordon (Secretary)

Richard L. Booth
Colin S. Caldweli
Bernard H. Cherry
Joseph Cupo
George Darmohray
Christopher Fowler
Rudolph Grubo
William Macnabb
Harvey Price
Raymond Robinson
Norton Shapiro
Thomas Snead
Wailaco Sumner
Robert TalIman
William Utnage
Albert Watson
The Babcock 4 Wllcox Corcpany
Atomic Industrial Forum

Nuclear Fuel Services, Inc.
Nuclear Materials 4 Equipment Co.
General Public Utilities Service Corp.
Westlnghouse Electric Corp.
General Electric Co.
Al Hod-General Muclear Services
Yankee Atomic Electric Company
NUS Corporation
Atomic Industrial Forum
Exxon Nuclear Company
Combustion Engineering, Inc.
Duko Power Company
Allied-General Nuclear Services
Bonnevllle Power Administration
Kerr-McGee Nuclear Corporation
Carolina Power 4 Light Company
10/28/74

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                                                                          133
     I wonder if the members of the Atomic Industrial Forum would care




to come up to the front, and perhaps we could ask the questions from




up here.  It would be much easier.




     I have a few questions I would like to ask.




     Dr. Sagan, I am impressed with your emissions tax proposal.  One




of the questions I had as I understood it, you said in a sparsely popu-




lated area, a tax would be different from what it would be in a densely




populated area.




     Would this in some way imply an inequity in the risk to the




population?  Would there be more material going out?




     Dr. Sagan:  I think there should be some balance between the




risk to the individuals and total risk to the population.




     The way I would visualize that, and I must admit I have not given




great thought to how this would be implemented, I would suppose that




one would begin by estimating a dollar cost per man-rem.  This is done




many times for radiation as a whole.




     I would guess that that dollar cost per man-rem for plutonium




exposure would be less than for total body exposure.  That is to say,




the estimates for total body exposure range from $10.00 up to $500.00.




     I would think the man-rem cost for plutonium would be lower than




that, simply because fewer organs are exposed.  Then, what I am




suggesting in my talk is that that cost, whatever might be arrived at,




might then be adjusted upwards or downwards depending on how many




people were exposed to such a plutonium release.

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134
          For  example,  if  that release were in the middle of New York City,




     I would think  there should be greater penalties attached to it than if




     it were released in the  center of the Nevada Desert.




          Dr.  Mills:  Thank you.  I have a question for Dr. Goldman.




          Many times it is proposed that we put our radiation standard into




     perspective.   We often use the perspective of natural background.




          Would you care to comment on how you visualize this perspective




     being put to use;  that is, are we really talking about natural back-




     ground rather  than a  threshold level for an effect, or are we talking




     about proposing releases in addition to natural background, that these




     releases  are so small that they are within the noise level and therefore




     the  effects are simply indistinguishable from the normal occurrence?




          I am just trying to seek your comments as to how you visualize




     this.




          Dr.  Goldman:  If I  understand your question correctly, I introduced




     the  topic of natural background just to remind us that it is composed




     of a variety of radiations, including alpha emitting particles with




     varying propensity to become diffused.




          We do not start out with zero.  I do not believe that on the basis




     of laboratory  information I have seen that there are radiation effects




     derived from background.  That is really beyond biomedical science,




     that minor differences in radiation background could produce effects.




          The  reason for this is in the bulk of the radionuclide studies




     that I have been familiar with, it is only when one gets to factors of

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                                                                          135
a thousand times above background, something like three to ten thousand




times the background radiation rate, with animal experimentation that




I have seen, be it a linear or sigmoidal or threshold type of response,




that I have seen increases in the effects under study.




     I do not know whether we will ever be able to quantify, whether




what I have said is 3,000 or 10,000.  I am merely saying that on




the basis of my assessment, that is the kind of thing I see.




     In the case of things like radium, or perhaps even plutonium,




the dose rate to the critical organ gets up into the range of hundreds




of millirem per day, to find whatever quality factor you want, to get




from rads to rems, but it is at that point that the biomedical effects




data start to arise.




     What is rather fascinating is one need only go another order of




magnitude higher when you get complete 100% type effects.   When one




gets beyond that, we get into wasted radiation and inefficient utili-




zation, computing risks and all that.




     My concern has been to concentrate on that region.   These effects




wander between the 80 percent and 5 percent level of effect.  I think




we can learn much about the nature of response for radionuclides where




the dose rate is rather low, although the cumulative total may appear




large.




     It would appear that something akin to what Mr. Parker said with




regard to a signoidal type response exists.

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136
      I  think what I am trying to say is that I do not believe there is




 a risk  associated with the levels of radiation that we call natural




 background.




      Dr. Mills:  But you would agree that any assessment, any models we




 use to  assess the effects of plutonium, that those same models there




 is no uniqueness to plutonium toxicity, should be used in the assess-




 ment of what natural background might contribute?




      Dr. Goldman:  You are then asking me to say that some fraction of




 the background health effects might be attributed to the contribution




 from background radiation.




      If there were a magnet that could eliminate background at the




 spontaneous rate of condition A, B or C, that might be reduced.  Is




 that the sense of your question?




      Dr. Mills:  No. I am not really asking you that.  What I am saying




 is, in  terms of putting radiation in perspective, we have viewed that




 quite often, would you agree that models that one uses to make the




 assessment, those radionuclides which are added to the environment,




 that those same models, where they are compatible — would those same




 models  be used for the naturally occurring radionuclides?




      Dr. Goldman:  I think that is one approach, yes.




      Dr. Garner:  Would you agree, this procedure would be fine for




 comparative purposes.  Maybe you would not agree if you were talking




 about absolute risk.  Would that be a distinction in this use of models




 for natural background?

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                                                                         137
     Dr. Goldman:  I feel a bit more comfortable in considering things




on a relative scale rather than on an absolute scale.




     Dr. Garner:  I have a question.  I do not know quite to whom to




address it.  It is the question of plutonium recycling.




     I would like to try to find out, if some one of you can answer




it, to what extent this recycling would reduce the amount of the pre-




sent risk.  One of the major concerns of the general public is, of




course, the hazard from long term storage of waste which we are told




will be dangerous for millions of years.




     If in some way we could reduce the amounts of this hazardous




material present in waste, I should think we should try.




     Is plutonium recycling, or the efficiency of recycling of a




transuranic, is it going to be effective in reducing the amount




present in the waste to be diposed of?




     Mr. Deuster:  If one reprocesses, which is what you are presuming,




the normal reprocessing plant will remove about 99 percent of the plu-




tonium from, the fuel.  There is something like a half of one percent




to one percent of plutonium that was originally in the spent fuel




that does go with the high level waste when they are separated.




     All of the plutonium, then, that is separated will be recycled




back into the reactor.  Thus, that will be taken out of the waste




stream.




     In other words, if you did not reprocess spent fuel and you




elected to store or dispose of spent fuel, then all the plutonium

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138
   would remain in that spent fuel assembly.




        Dr. Garner:  Yes.  The question I am asking is, you said it would




   be economical to recycle plutonium.  Is this economy such that there




   are better separations techniques in trying to extract plutonium in




   recyclable materials; disposing of them with a fission problem, because




   we know there is much more of a problem with storing of fission pro-




   ducts than with transuranics.




        Mr. Deuster:  We have no plans to improve on the extraction process.




   I believe the extraction efficiency of plutonium from the spent fuel in




   our facility is essentially the same as that for the other facility




   that is expecting to go into commercial operation, the Allied General




   Nuclear Services Facility.




        I do not know whether Dr. Wolfe is still here, but I believe




   the efficiency of the plan for Morris operation was similar to that




   of West Valley.




        Dr. Garner:  So it makes very little difference?




        Mr. Deuster:  I am not a chemical engineer.  But the discussions




   I have had on this particular subject are such that, yes, it is possible




   to improve on that abstraction efficiency by some small amount, perhaps




   a half percent, by redesign of a plan to add another separation stage,





   perhaps take it down to a .2 percent, but this is still a rather small




   change and, on an economic basis, unjustified.




        Dr. Garner:  I have another question to address to Dr. Goldman.




   I would agree with you until a few moments ago that the main health




   hazard from plutonium was the question of suspended material.  I think

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                                                                          139
 this is what you concentrated on.
     Dr. Goldman:  I did not say it was the main question.  It is what
 has gotten the greatest publicity.
     Dr. Garner:  In fact, aging material may become more biologically
 available so that a very small percentage could be absorbed in the body
 and might be increased by aging material.  Would you like to comment on
 that?
     Dr. Goldman:  As I said, I think there is going to be a profusion
 of technical comments made on some of this by the people who actually
 generated this type of data you are referring to.
     I am a firm believer, though, in the fact that whether it be by
 ingestion or inhalation, it is the absorbed radiation dose that is of
 primary concern to me, and that the nature of the response in the
 critical organ is not too disparately different.
     If one wants to postulate on a linear scale what the environmental
 consequences are on this, that, or the other, I in my own assessment
 found it necessary to include a fraction that might be ingested rather
 than inhaled.  The fact that the intestinal tract is so efficient in
barring against the uptake of this has a conservatism built into it
 that may not exist with respect to inhalation.  So there are going to
be additional considerations there.
     Dr. Garner:  Following up this question, relating to Dr.  Parker's
statement, when we talk about the transuranics we talk quite frequently
about plutonium, meaning plutonium 239 as being perhaps in some of our
minds the most toxic of these materials.

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140
       To some,  I believe that americium 241 is considered to be perhaps




   the most  toxic componant transuranic.




       Would you like to comment on that?




       Dr.  Parker:  Of the two, one would expect that the evaluation




   of americium could well be.  In selected isotopes of plutonium such as




   239, we would make the point that what is our real definition of toxicity.




       I found out the other day, as a health physicist, I do not really




   know.  I  hope  the agency knows.




       Expressing things in terms of mass per gram of the contaminating




   substance, as mentioned in the British reference that I quoted, the




   transuranium elements are not even in the first 50 elements that you




   could come up with as being toxic, on that very arbitrary basis.




       What was  the real toxicity, I do not know.  239 obviously is waste-




   ful because if you had some cooperation in the body, you are going to




   be dead with most of that staying in; so therefore, a clear waste of




   radiation, looking at it from the enemy point of view.




       So you want something that does its darndest while entirely within




   the body.  What that is in terms of the raw substances, I would hestitate




   to say, only that it be looked at very carefully.




       Dr.  Garner:  I entirely agree with the statement that you made




   that we should review it from time to time.  We fall into somewhat of




   a trap, continually using the linear non-threshold model, perhaps in




   a context it should not be used in.




       Have you  any solutions to offer if we abandon that model and start




   looking at animal data and decide there is a threshold, sigmoid, or

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                                                                          141
something of this kind?




     What solutions shall I offer to my colleagues in the radiation




programs, for example, who are faced with predicting the long-term




consequences of exposure to these materials?




     Dr. Parker:  I would hope that the next stage, rather than having




to assume a linear relationship, as a prudent method, we would, say in




one decade from now, begin to have some data that would show a dose




relationship to effect as A times dose plus B times dose squared some-




thing of that nature, in which you never have a precise value, but a




reasonable estimate on what the values of A and B are.




     Jumping the gun in terms of thinking that we know some of those,




for example, from some of the data in Dr. Chuck Mays, you would pro-




bably come to the conclusion that at the environmental level, which I




am assuming is very low, in activity scale you could safely say that




the nose count of alleged cancer death is lower by, say, a factor of




100 than is derived on the linear model.




     I believe, sir, if we had that data in hand and I am sure we




do not have it today, this will be a real advance in comfort of what




you might ask others to accept at the very low levels involved in the




environment.




     Is that responsive to your question?




     Dr. Garner:  Yes.  It is responsive up to a point.   You know as




well as I do that abandoning this popular model is opening an enormous




can of worms because we need to know the distribution, for example, of

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142
 the population or what have you.




      It is all very well to talk about a dose square model, but then




 we have to know then exactly what these — but then, we would not go




 into that.




      Dr. Parker:  I was not restricting this to plutonium.  I have this




 hope in mind for the broader analysis of dose.




      Dr. Garner:  I would like to end with one very short comment that




 we should not talk ourselves into a state of complacency because, in




 fact, we have seen nothing in human exposure to plutonium.




      There are about half a million curies of plutonium around the




 world.  From tests, one could argue that we see nothing from this and




 why bother.  But we know quite well that —




      Dr. Radford:  I would like to follow up on this dose response.  I




 think Dr. Goldman made some statement to the effect that all the data




 he had seen showed no effect until, you conceded, about 3,000 to




 10,000 times the background rate.  Is that a fair statement of what




 you said?




      Dr. Goldman:  Yes, in terms of chronic radiation exposure.  Dose




 rate from internal emitters is difficult to handle in terms of a unit




 dose, but rather one must keep in mind that it is a total dose derived




 over a longer period of time than in most of the human experience that




 has gone into the BEIR report.




      In the case of animals, it has been over a decade, for example, a




 dose rate to the organs under exposure for that particular nuclide.




 You get up into the order of a hundred or more millirem per day,

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                                                                          143
 that is when I see an increase in the incidence of tumors in that




 particular organ.




     Dr. Radford:  Let us deal with the dose of radium aspect first.




 I want to make it plain I am only talking about alpha emitters from




 here on out, only alpha emitters because these are essentially all




 the transuranic elements that are of importance here.




     I will get to the question of which one in a minute.  With respect




 to the effects of dose for rates of high radiation, what is your




 thinking about whether this rate has any effects on the risk factor




 for, say, cancer production?




     Dr. Goldman:  I feel that if the dose rate is sufficiently low




 particulates, that biologically it seems reasonable to me that the




 risk may not necessarily be unit proportional to that risk which might




 be more easily derived from a higher dose rate of the same kind of




 alpha particles, by virtue of the fact that — maybe it sounds a bit




 simplistic — but biologic systems are very dynamic.




     If a sufficient amount of time intervenes, and if the alpha




 particles are sufficiently separated with respect to time as well as




 space, it is entirely conceivable to me that the effectiveness of those




alpha particles is going to be far diminished over the kinds of data




which is more easily derived.




     You are going to have very high doses.   Sometimes you call them




incandescent experiments,  in which very high levels do not permit what-




ever recovery or molecular repair events to occur.   I can not really




quantify or define it on a molecular basis.

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144
     Dr. Radford:  Everything you seem to have said so far is just




kind of a cerebration of the process based on some sort of model.




     Dr. Goldman:  It is not based on any model.   It is based on an




assessment of the response to radium, from alpha  emitters, as well as




emitting gammas and betas, over the lifespan of a variety of animal




species, and when one corrects for the incident rate,  the cause specific




incident rates, and the amount of radiation dose, the  response curves




are not linear.




     Dr. Radford:  Which radium isotope are you talking about?




     Dr. Goldman:  226, a long lived isotope which I think is more




germane to the question you are raising.




     Dr. Radford:  Would you agree that radium 226 exposure in man has




produced cancer when the radiation dose has been  given over long periods




of time?




     Dr. Goldman:  I did not say it did not.  I am saying the nature




of the response incurred is not linear, but even  in the limited amount,




in the lives of humans, we see excess doses of radium  over a century.




The current consensus is —




     Dr. Radford:  Are you quoting from the BEIR Report on that?




     Dr. Goldman:  I am quoting from the BEIR Report and some recent




reports from the Argonne National Laboratories and Center for




Radiobiology.




     Dr. Radford:  If I recall correctly, the BEIR Report said that




while the data appeared to show non-linear relationships, a linear




fit could not be ruled out.  Is that a correct statement?

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                                                                          145
     Dr. Goldman:  That is a correct statement, and I have added to




it the fact that when one adds animal experience to it, it is probably




one of the few radionuclides for which we have that bridge.




     People keep telling about how one extrapolates from animal infor-




mation to human, that the nature of the response here does not vary




qualitatively.  There are differences, of course, in the way one scales




time.  The dose rate story that I told you about with respect to




animals is not inconsistent with the pattern one sees in the data




published in the BEIR Report, when one really connects data points




rather than putting a line to it.




     Dr. Radford:  Now about radium 224?




     Dr. Goldman:  Radium 224 is very short lived and may indeed have




a different dose distribution pattern, so one can not have low dose rate




radium 224 studies with a nuclide that only lasts for a portion of a




week.




     Here one is dealing with what I consider acute radiation.




     Dr. Radford:  But it was shown by Mays and Speth that when the dose




was protracted, the same total radiation exposure was given over a pro-




jected period of time, there appeared to be a higher cancer rate than




when dose was given in relatively few injections.




     Dr. Goldman:  Then one has to make decisions about what kind of




model to follow; in view of the absence of specific knowledge as to




what happened, it would appear that the dose in terms of rads for the




radium 224, might have had a lot of what Mr. Parker or someone mentioned

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146
 as wasted radiation in its effectiveness.




      The difference between the 224 and the 226,  if I recollect rightly,




 is within a factor of about two or three.




      Dr. Radford:   In terms of mean rad dose,  it  is much more than that.




      Dr. Goldman:   The same level of effect.   The radiation doses, I do




 not think would have been different.




      Dr. Radford:   Do you recall what the  lower dose received by any




 individual who developed cancer from the radium 224 injection is?




      Dr. Goldman:   I think that is subject to  quite a bit of a problem




 in that the radiation estimate was retrofitted after the material had




 decayed.  If I recollect, as Mr. Parker said,  some tens  of rads.




      Dr. Radford:   What about the lung cancer  production, say in a




 mining population?  How would you characterize the radiation exposure




 under those circumstances?  Again, I am talking now in terms of dose rate.




      Dr. Goldman:   In terms of dose rate,  the  products that have been




 postulated to be responsbile for some of the excess lung cancer in these




 miners, I guess, would consider to be a chronic or fractionating




 exposure.




      There may be some residual radionuclides  in  the lungs as well as




 the alpha emissions from the gaseous products, but that  is continuous.




 I had some very serious problems with regard to quantifying that




 epidemiological information.




      In fact, this is probably a problem in much  of epidemiology when




 the dose is estimated.  It is just that, just  an  estimation.  It is not

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                                                                          147
a measurement.  I do not know whether the people who have been reported




to have this lung cancer had ever been mining, the conditions in which




they worked.




     One could get an accurate estimate of their exposure level;




futhermore, it is my understanding that a goodly number of these people




were heavy cigarette smokers.




     We do not know enough about the epidemiology of lung cancer to be




able to separate the role of their cigarette smoking history from the




number of tumors that have been ascribed soley to radiation.




     So there is dilemma there, especially in view of the fact that few




non smokers have had comparable exposure.  We do not know if such




cases occurred.  We may be dealing with a chemical synergism, but then




again it is speculation as to model.




     I have a problem in quantifying that.




     Dr. Radford:  To get that issue out of the way, the fact is that




a number of cancers are now appearing in non smokers.  It is historical,




     What about the miners in Newfoundland?  Would you characterize




their dose estimate as inaccurate?




     Dr. Goldman:  I did not say inaccurate.   I am just saying that one




has precision problems in real life that are sometimes eliminated when




one is in the laboratory, where there is specific control over all of




that.




     It is the precision, when one gets down to these levels and the




small numbers of people involved,  and the inaccuracies perhaps in the




dose, still leave these open to question.

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148
       Dr.  Radford:   In essence,  what  you  are  saying  is you  do  not  believe

  the estimates had  been made by  the  investigators.   Therefore,  you cannot

  really judge anything on the basis  of  this data.  Is that  essentially

  what you  are saying?

       Dr.  Goldman:   No.  That is not  what I am saying.

       I am saying the  dosage data exists.  I  have  no reason not to

  accept it.   It is  the extrapolation  beyond where  the real  data lies,

  that I have difficulty with because  of the problems.

       I think they  have done an  admirable job in estimating dose,  but

  I know we have some problems, and especially in converting it down to

  three orders of magnitude lower dose.

       Dr.  Radford:   Apropos of the three  orders of magnitude lower

  dose, it  seems to  me  one of the fundamental  issues  we are  here to

  discuss,  whether in fact it is  three orders  of magnitude lower dose.

       I would ask anyone on the  panel to  answer.

       Would you agree  with Dr. Bair  and his colleagues that a  single
       *
  alpha particle can be considered to  have 500 rem  exposure, one alpha

  track, when ingraded  over only  that, that it passes through about 500

  rems?

       Dr.  Goldman:   That is a physically  measurable  quantity.

       Dr.  Radford:   So the hot particle issue,  isn't it, gentlemen,

  that you  have a single source of alpha radiation  which when integrated

  over the  volume to which it is  distributed may lead to hundreds of

  thousands of rems, is that not  over  perhaps  x period of time?

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                                                                          149
     Isn't that what we are here talking about?  High dose effects




from a single particle?




     Dr. Goldman:  That is one part of the problem.  I attempted to say




very superficially in my few remarks that on the basis of empirical




observation, using those types of particle that the animal experi-




mentation does not raise the order to a uniquely different risk.  That




might be estimated on the basis of just adding up the number in that




microscopic volume.




     When describing the alpha particle on the basis of just toxological




information, it is very unpractical to push this approach very far.




     Dr. Radford:  I would like to raise a couple of other questions.




I believe it was Mr. Parker who mentioned the U. S. Transuranium




Registry.  Could you explain what that Registry is?




     Dr. Parker:  Yes, I would be glad to, Dr. Radford.




     It is an operation that functions out of my headquarters in




Richland.  It is currently operated by the Hanford Environmental Health




Foundation.




     It briefly consists in an attempt to sign up those workers who




are presumably exposed to plutonium to permit access to autopsy




samples, prefereably as was done with many uranium cases, on whole




willed bodies in the hope that eventually from this source,  by being




aware of the health conditions of these men and making presumably




eventually reliable determination of their residual plutonium, we will




get some real relationship between available plutonium in the body and




deleterious effects, whether they be cancer or otherwise.

-------
     I would like, if I may, to go back parenthetically to Loren's




closing remark which I suppose Dr. Goldman and I both thought the other




was going to answer.




     I am afraid the record will show that Dr. Garner brought up the




issue of saying I hope we are not complacent and it drew a total silence




from us.




     I hope we are not complacent, too.  None of our statements to you




this morning, gentlemen, reflect that.  I think my personal emphasis




on the value of the Registry reflects that this is virtually the sole




logical source of human data.




     I will perhaps say I am not a little suprised that we have not seen




deleterious effects among the some hundreds of workers who have measur-




able depositions of plutonium, which Dr. Garner says is always the




issue of latency.




     But eventually, that has to disappear because some of the more




seriously exposed people were those in the early days of the project




when conditions were not as favorable as they are now.




     Some 30 years have gone by and in another decade, we will know a




lot more.  I do not want to project how the curve goes, but it is vital




to the nation, as I see it, Dr. Radford, to do the best we can to acquire




all the possible human data.




     Dr. Radford:  Apropos of just that point, you state that the




Registry is an attempt to sign up workers who have been exposed to




plutonium with particular emphasis, because you mentioned it in your




next sentence, on willing their bodies for whole body analysis.

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                                                                          151
     How many workers have you signed up so far?




     Dr. Parker:  I do not have that answer.  I could ascertain it and




submit it for the record from the head of the Registry, or possibly from




some member of the Commission who may have it here.




     I do not know the answer, sir.




     Dr. Radford:  Well, is it five?




     Dr. Parker:  No.  It is more than that.




     It is a number which varies very much between the principal sources




of which plutonium has been used.  My basic familiarity has been with




the Hanford experience.  I have no personal knowledge from memory of




numbers.




     As I say, I can obtain these numbers very easily.




     Dr. Radford:  You said you were in charge of the Transuranium




Registry?




     Dr. Parker:  No, sir.  I am a member, one undistinguished member




of a large advisory committee.  If I were that, I would hope I would be




better informed, sir.




     Dr. Radford:  I want to come back to this time factor in terms




of exposure.  I really think this is a general question that I hope




we can focus on and get out of the way once and for all.




     It is somewhat germane to some of the points Dr. Garner made




earlier; that is, what elements are we talking about here?




     Is there anyone in this group, for example, who knows what mix




of isotopes we are talking about?  You mentioned, for example, mixed




isotopes.   What isotopes?

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152
       Dr. Parker:  This is an engineering determination of the exposure.




  We have to determine what fuels are going to be used in the next 20




  years and determine what exposures are most advantageous.  I think it




  is rather elementary to work out those compositions.




       I am suggesting my notes, which were made very brief, that you




  could possibly pick two representative conditions.  I had a report some




  time ago with a similar theme which picks three.  It depends on how




  many dollars you want to put into different compositions.




       A required number of compositions would lie somewhere between




  two and infinity, if you had no limit of dollars to put into it.




       Dr. Radford:  Let us not get into the experimental design.  I




  just would like to know does anyone on this panel know which isotopes




  we are talking about?




       Mr. Deuster:  The plutonium that is produced in the water reactors




  varies on the reactor type.  The PWR will produce a slightly different




  composition than a BWR because of the spectrum in the reactor.




       Typically, if we are reprocessing normally radiated fuel in the




  range of 25,000 to 30,000 megawatt-days per ton, the plutonium 239




  content would be perhaps around a 70 percentile.




       Then, plutonium 240 and 241, and some 242; perhaps, 240 at 15




  percent or 18 percent; 241 at nominal 10 percent; a percent or two of




  242.  Then when we mix that material with some uranium, it may be




  natural uranium; it may be, some people propose using the tail uranium —




       Dr. Radford:  I was mainly concerned with the — But that is through




  a fuel processing plant?

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                                                                          153
     Mr. Deuster:  Typically, but it will vary.




     Dr. Radford:  Those are mass percentages, right.




     Mr. Deuster:  Yes.  But they are not that accurate, in any case.




     Dr. Parker:  I can read three accurate compositions into the




record, if it will be helpful, or give it to you later.




     Dr. Radford:  No.  I have the numbers.  I am just trying to find




out whether we are talking about the same thing.




     I am referring specifically to the ORNL report 4451 on Fuel




Reprocessing that gives as a topic, compositions as a function of




time after removal from the reactor for a 30 day holdup time for radio-




active decay and so on.




     The significant point to me is that plutonium 238 is much higher in




concentration by activity.  This is in the waste stream assuming 25




percent, so it comes up on an activity basis.




     We are talking about, say, 300, I think, curies per ton throughput,




curies per metric ton; and plutonium 239, only 17.7 curies.




     Now, are we talking about plutonium 238 or are we talking about




plutonium 239?




     Mr. Deuster:  The plutonium just comes out, and it is all mixed.




We have little control over what its isotopic content is.




     Dr. Radford:  But the dose rates from a single micron particle




of plutonium 238 is extremely irregular,  from that of 239, is that




correct?




     So in terms of dose rate influences, you need to know whether you




are talking about one or the other, or a mixture.

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154
       Dr. Goldman:  I think we were talking in terms of rads.  That




  does not require specifying any specific activity, sorting out particles.




  I  forget what  the number is; I think it is something like 250 difference




  in mass; the same activity between the 239 and 238 isotope.




       But a microcurie is a microcurie.  The energies of 238 and 239 are




  essentially the same.




       Dr. Radford:  But when we were talking about radium 224, you




  emphasized the rate distribution would be different from the radium 226.




       I am suggesting simply the rate distribution would be different.




       Dr. Goldman:  There are very different magnitudes here.  The




  physical decay rate for 238 is eighty-eight years; for 239; it is some




  24,000 years.  The decay rate for radium 226 is intermediate 1600 years,




  but that for the 224 relative to the life of a cell or tissue in man is




  only measured  in hours, 3.5 days, I believe.




       There is  a gross difference as far as the human body is concerned.




  I  might suggest that with regard to decay rates, the 238 and 239 are




  essentially the same.  Both of these are quite long relative to a




  lifetime.




       Dr. Radford:  One final question on this, or two quick ones.




       If you have a particle escaping from the fuel reprocessing program,




  is it likely to be a mixture of plutonium isotopes as well perhaps of




  americium, curium, maybe some Californium or would they be separated




  in the reprocessing essentially?




       Mr. Deuster:  The transplutonics are separated from the plutonium




  and they would go into the high level waste stream initially, so that

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                                                                          155
if particulates evolved from the plant, they would naturally be from




plutonium or the mixed uranium plutonium parts.




     Dr. Parker:  May I elaborate on that?  Some of them, however, will




grow in again whether you like it or not, so there will be americium




derived from each plutonium 241, nothing to be done about that once




you have left go of your actual separation process.




     Dr. Radford:  Of the transuranics that we are talking about here,




at least one of them anyway, and maybe more that you know about, have




spontaneous fission rates which are, while not high, still definite.




     Is there any possibility that one could sequester a portion of the




fuel reprocessing, enough spontaneous fissions to give a neutron flux




that would be significant as far as inducing fission?




     Mr. Deuster:  Yes.  That is one of the design factors taken into




account in a mixed oxide fuel fabrication facility.




     It is also one of the factors taken into account in the design of




shipping costs, the neutron dose does evolve from spontaneous fission.




     Dr. Mills:  Let me ask for a comment from the NRDC?  What is the




latest that you can get on?  I know that you want to get on this morn-




ing, and we will try to do everything that we can.




     So, will you bear with us?  I apologize for having put you off.




     Mr. Speth:  I think we can postpone it until this afternoon, since




people are getting hungry.




     Dr. Mills:  In deference to you, Mr.  Speth. perhaps we can put you




on now or within five minutes or wait until after lunch.  I will leave




it to you.




     I apologize for the delay.  What is your preference?

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156
        Mr.  Speth:  My  preference  is  to  go now.




        Dr.  Mills:  Let me  just  get a couple of brief questions  from




   Dr.  Taylor  and Dr. First.




        Dr.  Taylor:  What I have really  is more of a comment  than a




   question.




        As Dr.  Parker mentioned, the  desirability of a  five year review




   plan,  the fact is standards for internal emitters have been under  study




   and  review  for the last  15 years.




        They have come  up with a new  number every few years.  Over this




   length of time,  the  number has  not fluctuated by more than a  small




   amount, less than one order of  magnitude, 1 would say, as  far as




   I  am aware.




        Dr.  Parker:  I  think that  is  only a partial answer, though,




   Dr.  Taylor.   After all,  the standards are characteristically  found




   wearing white hats.  There are  some legitimate responders  in  this  who




   are  entered  as wearing the black hats.




        I believe very  firmly their voice should be heard in  these five




   year reviews, is what I  am saying.  Until such time  that we can




   convince  them that we were right,  which of course we knew  all the




   time,  but that is not the way this thing should be done.




        Dr.  Taylor:  I  do not disagree with that.  My real point, though,




   is as far as I am aware  with  whatever studies we have made on this,




   we are not  expecting to  see anything  more than an order of magnitude




   off  of where it  has  been for  some  time.




        You  suggested it might be  a rational number in  any case.

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                                                                          157
     Dr. Parker:  Yes.  I agree, but we have to reserve the right to




be wrong, since we do not know all the facts.




     Dr. Taylor:  I could not agree or disagree with you more.




     Dr. First:  I would like to clarify a couple of items in the




disucssion which we have had so far.  We have heard a good deal of




talk about background values and also about plutonium and transuranic




exposure.




     I have the impression, which may be quite wrong, and I would like




a comment, that we are comparing the dose of these particular materials




with general background radiation from all sources, and that we are




not saying specifically that the background that we are comparing




the exposures from processing, background respirable particles, is




this correct or incorrect?




     Dr. Parker:  Strangely enough, both.




     Dr. First:  Could you please straighten it out?




     Dr. Parker:  I think people do make comparisons with both.  I




would say it is profitable to do so, in the intellectual sense;




possibly, that which pertains to alpha particle bearing substances




in the atmosphere being inevitably taken into the lung, is possibly




the more relevant for some of the species of arguments in which we




are involved here.




     Let me relate that, in fact,  to what you did not ask me, but asked




everybody else, about the lowest practicable level.




     Let me say that if we are trying to reduce plutonium to the

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158
  lowest practical level in the environment,  this will increasingly




  spiral the dollars from the millions to the billions.




       At some stage, we could in theory improve the health of the




  citizen of the United States more effectively by removing the natural




  radiation.




       People sit back and say we cannot do anything about that.  It is




  nonsense.  All it happens to take is more money than we have, but there




  is some stage at which it would be far more useful to attempt that than




  take away the last plutonium atom, as I see it, sir.




       Does that answer properly the question you had in mind?




       Dr. First:  I think it alerts me to ask this question.   When we




  start getting comparisons as the hearing goes on, to define  it,  but




  your last comment brought me to another question which I had.




       This relates, I believe, to Dr. Goldman's comments about the




  weathering of plutonium particles in the environment.   There was no




  quantitative aspects in your comments.  If  these particles do weather,




  what time scale are we talking about, and ultimately,  can one derive




  from such numbers a safe level of emission  to the environment that we




  can hope that natural processes will continue to keep up with the




  depositions so that we will maintain a constant level?




       Dr. Goldman:  I think I am going to defer the specific  quantifi-




  cation on that to some people that I believe studied this more inten-




  sively than I.  I was speaking as a biologist.  I leave the  mysterious




  ways of geology and atmospheric sciences.

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                                                                          159
     I was observing the increase of time.  I am talking about decades




rather than days or weeks.




     Dr. First:  That is not going to be any help to me personally.




     Dr. Goldman:  It will be a help to somebody, that the material




appeared to migrate downward more deeply and aggregate in such a way




that the fraction per unit volume is biologically less potent.




     Dr. First:  I was thinking about geological time in the point I




was trying to get at.




     Dr. Goldman:  I think 1 am talking in terms of decades.




     Dr. First:  Perhaps another question I had, and I will try to




make this brief, is more up your line.  Dr. Wolfe mentioned the fact




and I can quote him quite specifically, that he was interested in more




information on real pathways of plutonium.




     We had a lot of comment from you and others concerning the fact




that animal data and man data should be quite comparable, and I thought




you said that we could depend,  Dr. Parker, that we could depend quite




reliably on animal data.




     Is this a difference of opinion here?  Just how reliable are the




animal data to our human exposures?




     Dr. Goldman:  The real pathways can be described in fraction rate




quality of material from whatever the source is, say from the nostril




or intestinal tract,  as it were.




     That is my view of what the pathway situation is.   What is real




or unreal about it may be the fact that we can not quantify over the




long time span, the exact contribution of the air borne suspension,

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160
   water  borne,  dietary  borne,  the  grow  in of other nuclides.




       We can model  the consequences, though, of a given unit absorbed,




   regardless  of the  pathway  that it  took to get there, whether it  is a




   skeletal dose;  it  could be the soluble fraction of  that in the lung;




   it  could be something injected intravenously; or a  fraction absorbed




   through the intestinal tract.




       The assessment is how much  activity is there?  How was it




   distributed?   And  what kind of dose?




       It is  kind of an independent  factor perhaps, in that sense, as




   to  what environmental impact it  may have, part of the overall path.




       Dr. First: I am not  sure whether I understand whether you  are




   in  agreement  or disagreement with  Dr. Wolfe on this point.




       I am not trying  to generate an argument between the two of  you,




   but I  am confused  by  what  appears  to  me to be a difference.




       I get  the impression  that Dr. Wolfe is saying  we do not know




   enough about  the real human pathways  to be able to  judge the situation




   adequately.




       Dr. Goldman:  I  do not disagree  with what he said.  I said  that  I




   feel a lot  more comfortable about  the assessment.   I guess as you pointed




   out I  feel  qualitatively somewhat  comfortable about the real pathways,




   but I  suspect from his point of  view  he would like  greater quantification.




       But I  do not  think we are in  disagreement.




       Dr. First: The  question is do we have enough  information to make




   judgments?  One never has  enough information, obviously, to do all we




   would  like.

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                                                                          161
     Dr. Parker:  I think an ultimate solution of the total ecological




web is really out of the question.  It depends on our intelligence in




identifying the main signalling paths which in the case of plutonium all




seem to be rather small, compared with the experience we have had.  Right




now, we certainly do not have enough data, 1 think, defined.




     The volume by Dr. Stannard and colleagues has a chapter on the




environmental knowledge assessed at about two years, that defines




what it is.




     From memory, I think he leaves off the chapter by saying we do




not know enough.




     In the research field, you always have to say that or you would




not get money to work the next year, so that has to be put in its




proper place.




     What we have today is the knowledge of something approximating




the knowledge of body burden that the United States population has




from weapons plutonium.




     This has been analyzed by various groups, and the results are




in concord enough to give us that degree of transfer from which you




might want to speculate.  You have a first order of approximation to




what may come from the nuclear industry as it increases its possible




burden decade by decade.




     Dr. First:  You think then that we know enough about the subject




at the present time to make standards relating to environmental




exposures, or do we have to wait for' a considerable body of new infor-




mation, which is what I gathered from Dr. Wolfe's comment?

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162
      Dr. Parker:   I have to give you what  is  a hedged,  ambiguous




 answer.  I think we know as much about this as we do  in many  other




 things in which we daily come forward with an alleged answer,  and




 we would be foolish if we did not continue our vigilance in trying




 to prove that answer.




      Dr. Mills:  Let me suggest,  if there  are other questions  for this




 panel, could we write to you and elicity answers  to those?




      Thank you very much.




      We will reconvene at 1:30.




      Again, let me thank NRDC for their patience.




      (Whereupon,  at 12:40 p.m.,  the hearing in the above matter was




 recessed, to reconvene at 1:30 the same day.)

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                                                                         163
                        AFTERNOON SESSION







     Dr. Mills:  Perhaps we can reconvene.




     To start off this afternoon,  we  have the  Natural Resources Defense




Council, Dr.  Cochran,  Mr. Speth,  and  Dr.  Tamplin.




     Again, gentlemen, let me thank you  for  the patience you showed




this morning, for this extended period of time.




     With that, I turn it over to  you.




     Mr. Speth:  My name is Gus Speth.   This is Tom Cochran, who will




speak after I do.

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          1 C F
                  Natural  Resources Defense  Council,  Inc.
                                    mo N STREET, N.W.
                                  WASHINGTON, D.C. 20036
                                      202 783-5710
   Palo Alia Offia                                                               New York Office
664 HAMILTON AVENUE                                                           15 WEST 44th STREET
PALO ALTO, CALIF. 94301                                                          NEW YORK. N.Y. 10036
    415 327-1080                                                                 212 869-0150
                                 NRDC Statement

                                      at the

                        Environmental Protection Agency

                                Public Hearings

                                       on

                   Plutonium and  the Transuranium Elements
                                   J.  G. Speth

                               Arthur R. Tamplin

                               Thomas B. Cochran



                               December 10,  1974

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                                                               165




     We appreciate the opportunity to participate in these hearings.



The nuclear industry's proposal to make plutonium into the principal



nuclear reactor fuel in the years ahead has implications for our



society that deserve the widest possible public airing.  We hope



these hearings will contribute to that goal.



     Our presentation will be in tv/o parts.  Today we will discuss



briefly the basic issue of the acceptability of plutonium as a



commercial fuel.  The key question here is whether the promised



benefits of proceeding into what the Atomic Energy Commission  (AEC)



has called the "plutonium economy" are worth the tremendous risks



to the health and safety of the public associated with such a course.



We conclude, emphatically, that they are not.



     Our presentation tomorrow will include a more detailed treat-



ment of the "hot particle issue" — the question whether minute,



insoluble particles of plutonium have uniquely high cancer-producing



potential.  We raised this issue before the EPA and the AEC ten



months ago when we petitioned that the radiatio'n protection standards



applicable to plutonium and other hot particles be tightened by a



factor of about 100,000.  Since our views on the hot particle issue



have been published and available for some time, we hope that at the



session tomorrow we can concentrate on responding to questions from



the panel and to issues raised in the testimony of other speakers.

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   166

I.   Introduction and Summary

     First with the initiation of plutonium recycle and then with

the introduction of the fast breeder reactor,  the AEC and the nuclear

industry hope to transform plutonium from its  current status as a

troublesome by-product of the fission process  into the principal fuel

for future nuclear power plants.   If these plans are consummated, the

commercial plutonium industry at the turn of the century could involve

hundreds of reactors fueled with plutonium, a  score of fuel reprocessing

and fabricating plants, and perhaps thousands  of interstate and inter-

national shipments containing hundreds of tons of plutonium.

     To appreciate the implications of having  one of our most im-

portant industries based upon plutonium, certain characteristics

of the element must be understood.  First, plutonium is one of the

most toxic respiratory carcinogens known.  Lung burdens on the

order of one-millionth of a gram  (the weight of a grain of pollen)

have been shown capable of producing lung cancer in animals with

virtual certainty.  And one of the purposes of these hearings is

to shed light on whether plutonium is several  orders of magnitude

more toxic than the AEC believed when it set current radiation ex-

posure standards.  Concern is amplified by the fact that plutonium-

239, the principal isotope of the element, has a half-life of

24,000 years.  Its radioactivity is undiminished within human time

scales.

     Such considerations led the International Commission on Radio-

logical Protection to conclude that:

     "in terms of amounts available, projected usage,
     extent of anticipated accidental human exposure,
     arid radiotoxicity, plutonium is the most formidable

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                                                                 167
     radionuclide in the periodic table."1
     This ICRP statement addresses the toxicity of plutonium.  But

Plutonium's toxicity is only part of the problem; the least of its

two evils many would suggest.  An amount of plutonium the size of a

Softball is enough for a nuclear explosive capable of the destruction

we witnessed in Nagasaki.   Scientists now widely recognize that the

design and manufacture of a crude nuclear explosive is no longer a

difficult task technically, the only real obstacle being the availa-

bility of the plutonium itself.  The successful theft of this material

by organized crime or terrorists, as Willrich and Taylor note, "could

enable a small group to threaten the lives of many people, the social

order within a nation, and the security of the international community

of nations."

     Given the facts about plutonium, the widespread reliance upon it

contemplated by the industry and the AEC would give rise to three

problems, each of the utmost gravity:

          A major public health problem.  As we move into

          the plutonium economy, exposure of industry em-

          ployees and members of the public to plutonium

          will become increasingly widespread.  Experiences

          at existing plutonium facilities provide fright-

          ening examples of what the future holds.

          An unprecedented public safety problem.  If

          plutonium is permitted to become a major commercial
I/   ICRP Publication 19, The Metabolism of Compounds of Plutonium and
Other Actinides, Pergamon Press, New York,(1972), p.IT

2/   Willrich, Mason and Theodore B. Taylor, Nuclear Theft:  Risks and
Safeguards, a Report to the Energy Policy Project of The Ford Founda-
tion, (Ballinger Publishing Co., Cambridge, Mass., (1974), p. 1.

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   168




          fuel, current realities are such that plutonium



          will most likely be stolen, a plutonium black market



          will most likely appear,  illicit nuclear bombs will



          most likely be made and used both here and abroad.



          An intractable civil liberties problem.   The drastic



          nature of the nuclear terrorists'  threat will be



          used to justify a drastic police response.  Exten-



          sive intelligence gathering, security surveillance



          measures will most likely become commonplace since



          they are among the cheapest and easiest safeguards.



     In sum, our judgment is that the proposed use of plutonium



as a commercial fuel would give rise to unprecedented social  risks



and costs.  We do not believe that a fully informed public would be



willing to accept these risks, certainly not in light of the  uncon-



vincing benefits.  Plutonium recycle, for example, would reduce



light water reactor fuel costs by about 10-15%.  But fuel costs



represent less than 20% of the costs of nuclear power, and by 1985



nuclear power is expected to account for only about 15% of total



domestic energy.  In other words, plutonium recycle involves  an



economic savings of less than one-half of one percent.



     In the longer term, the economic incentive to use plutonium  may



become  substantial but only if one assumes a high and sustained



reliance upon nuclear fission, a prospect which is increasingly



uncertain.  Developments in solar, geothermal and fusion energy, in



more efficient and clean means of consuming fossil fuels and  in



energy conservation generally suggest that alternatives to- prolonged



reliance upon increasingly controversial fission-based power  do

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                                                               169
exist.  A major part of the problem of assuring the timely availa-
bility of these alternatives to plutonium is the fact that the AEC's
fast breeder reactor development program continues to drain off a
major share of federal energy R&D funding.  This is a classic case
of misplaced priorities.
     It is imperative that our society develop the ability to say
no to technologies that are too risky and too demanding.  We can
no longer assume that each new innovation accompanied by major finan-
cial backing should be permitted to proceed, even with regulation.
Some should simply be halted for the reason that their advantages
bear no reasonable relationship to the possibility of tremendous
social harm they present.  The use of plutonium fuel falls into this
category.  There is something fundamentally insane about the wide-
spread commercial use of a material which is both fiendishly toxic
and capable of being easily fashioned into atomic weapons.

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  170

 II.   Dimensions  of  the  Plutonium  Economy

      Plutonium is almost  unknown  in  nature:   the  entire  present-day

 inventory is man-made,  produced in nuclear reactors.^  Most  of  this

 inventory has been  used to  construct nuclear  weapons for national

 defense  purposes.   Much lesser amounts  have been  used  for civilian

 reactor  research and  development.

      The fuel currently used  in present-day commercial reactors is

 uranium.   Unlike plutonium, this  uranium  fuel is  not extremely  toxic,

 and  it is not sufficiently  rich in the  fissionable  isotope uranium-235

 to be fashioned  into  nuclear  weapons.^  While present-day reactors

 are  operating, however, they  are  also producing as  a by-product

 substantial amounts of  plutonium, principally plutonium-239.  A

 typical  large reactor produces about 200  to 250 kilograms (400  to

 500  pounds) of plutonium  each year.   Since this plutonium is  easily

 fissioned, it can be  used as  reactor fuel.

      Sometime in the  coming year  the new  Nuclear  Regulatory

 Commission (NRC) will decide  whether to authorize "plutonium recycle"

 the  use  of this  plutonium as  a fuel  in  nuclear power plants  around

 the  country.  The AEC Regulatory  staff  (which will  constitute the

.NRC  staff when it is  formed)  has  recently prepared  a draft environ-

 mental statement on plutonium recycle.^  Its  view is that "plutonium
 3_/   Plutonium occurs  in nature  but in such small  amounts  that it does
 not constitute a practical  source  of the  element.   The  ratio of the con-
 centrations of plutonium-239  to  uranium in ores  varies  from 4xlO~13 to
 1.5xlO~H.   Katz,  J.J.,  Chapter  IV, The Chemistry  of  Actinide Elements,
 Methuen and Co., Ltd., London,  (1957), pp.  239-330.

 £/   Only with extremely sophisticated technology  not available to the
 public, notably gaseous  diffusion  or gas  centrifuge plants, can uranium
 be enriched to weapons grade.

 5/   DRAFT GESMO:   U.S.  Atomic Energy Commission,  "Draft Generic Environ-
 mental Statement Mixed Oxide  Fuel  (Recycle Plutonium  in Light Water-
 Cooled Reactors)," WASH-1327  (August, 1974).

-------
                                                               171

recycle would result in a small reduction in the already negligible

radiological exposure to the general population from the present

LWR  [light-water reactor] industry," that "plutonium can be adequately

safeguarded  [from theft] in a plutonium recycle economy,"^ and there-

fore that plutonium recycle should be authorized.  NRDC has taken

strong exception to the Regulatory staff's position in the appended

report, "The Plutonium Decision:  A Report on the Risks of Plutonium

Recycle,"7 and in NRDC's additional comments on DRAFT GESMO.8

     The next escalation in the availability of plutonium is projected

to come with the introduction of the fast breeder reactor.  According

to the AEC's schedule the breeder reactor will replace today's

reactors after about 1990.  The breeder reactor is designed to con-

vert uranium to plutonium faster than the plutonium is consumed as

fuel.  In other words, the breeder reactor breeds more fuel than it

burns.

     A nominal size (1000-megawatts) breeder will contain two to

four tons of plutonium at any given time.  Annually, approximately

one-half this amount, one to two tons, will be removed for reprocessing

and will be circulated through the fuel cycle.  The AEC has proposed

that we build between 1987 and 2020 some 2,200,000 megawatts  of breeder

reactor capacity.  Over the lifetimes of these plants, we can project
6/  AEC Regulatory Staff Response to Questions on Pu Recycle,
addressed to Senator Walter F. Mondale, signed by L. Manning Muntzing,
Director of Regulation, U.S. Atomic Energy Commission (7 October
1974),  p. 1.

7/  Speth, J.G., A.R. Tamplin and T.B. Cochran, "The Plutonium
Decision:  A Report on the Risks of Plutonium Recycle,"  Natural
Resources Defense Council, Washington, D. C.  (September 1974),
printed in The Bulletin of the Atomic Scientists, Vol. XXX, No. 9,
(November 1974), pp. 15-22.

8/  These comments were submitted to the AEC on October 30, 1974.

-------
  172


a cumulative flow of some 100,000 tons of plutonium through the nuclear

fuel cycle.  This would correspond to about lO17 (100 billion billion)

lung cancer doses if the lower risk estimates are correct.    One

hundred thousand tons of plutonium also corresponds to about 10

million atomic bombs of the size dropped on Nagasaki.  We present

these numbers not as a procedure for calculating risk, but only

to show that the plutonium economy offers a potential for social

harm that is truly awesome.

     In order to appreciate the significance of the plutonium economy

from a somewhat different perspective, we suggest that you consider

what the public response would be if our government leaders proposed

that we base our energy system on botulin toxin.  There can be little

doubt that the public would be properly skeptical of an energy strategy

centered around using a biological warfare agent as a fuel in thou-

sands of plants, each containing several tons of this material and

each generating more of this material than it consumes.  Certainly

one would hope that we would consider the "botulin breeder" only as

a last resort.  However, an examination of our present energy

strategy demonstrates that with our fast breeder reactor program, we

are actively pursuing a course which in  relevant respects  closely

parallels the botulin breeder.
9/  For reference purposes the AEC has estimated that of the plu-
tonium activity released routinely, one can expect that one part
in 1Q5 to be inhaled into someone's lungs of which 15 to 25 percent
would be deposited in the deep respiratory tissue.

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                                                               173
III.  The Present State of Affairs

     Lest it be thought that our concerns are only for the future,

we turn now to the present state of affairs with respect to plutonium

safeguards and accidental exposures to plutonium.

     A.  Plutonium Safeguards

     In the language of the nuclear industry, the various programs

and techniques to prevent nuclear theft and recover stolen nuclear

material are called "safeguards."  There have been a series of

major studies on the adequacy of the present safeguards program

within the last year, including the study by Willrich and Taylor

for the Ford Foundation Energy Policy Project,^ the AEC's "Special

Safeguards Study" (the Rosenbaum Report),-'--'- and a series of reports

by the General Accounting Office.12  All of these have concluded

that our present safeguards program is totally inadequate.  In fact,

the most disturbing routine releases from the nuclear power industry

are the continuous flows of documents pointing out the inadequacies

of our present safeguards program.  The AEC's own Rosenbaum Report

states:

     "Even though safeguard regulations have just been revised,
     two factors have appeared in recent months which make
     necessary a new and fundamental look at the problem.
10/  Willrich and Taylor, op. cit.

ll/  Rosenbaum, Dr. David M., et al., Special Safeguards Study, safe-
guards study made for the Atomic Energy Commission  (1974), referred
to herein as the "Rosenbaum Report."

12/  U.S. General Accounting Office, Improvements Needed in the
Program for the Protection of Special Nuclear Material"! Report to
the Congress, B-164105  (November 7, 1973); Protecting~Special
Nuclear Material in Transit:  Improvements Made in Existing Pro-
blems ,Report of the Joint Committee on Atomic Energy, B-164105
(April 12, 1974); and Letter Report on Security Systems at Com-
mercial Nuclear Power Plants, addressed to Dixy Lee Ray, Chairman,
USAEC and signed by Henry Eschwege, Director, Resources and Economic
Development Division, USGAO, B-164105 (October 16, 1974).

-------
 174

     The first of these is the widespread and increasing
     dissemination of precise and accurate instructions on how
     to make a nuclear weapon in your basement.   While such
     information may have always been available  in the un-
     classified literature it was masked by a great deal of
     irrelevant and incorrect information, also  readily avail-
     able.   There is a slow but continuing movement of
     personnel into and out of the areas of weapons design
     and manufacturing.  These moves are sometimes forced
     and can create very strong resentments in the people
     involved.  As a result, larger and larger numbers of
     people with experience in processing special nuclear
     materials and with varying psychological attitudes are
     dispersed in the overall industrial community.  In
     addition, the psychological effect on terrorist groups
     of widespread dissemination of such information should
     not be overlooked.

     "The second new factor is the recent start  of political
     kidnappings within the United States.  It is our opinion
     that the kidnapping of Patricia Hearst "does not represent
     "an isolated and passing incident, but is rather the pre-
     "cursor of a wave of such incidents.  If not firmly and
     competently met, these kidnappings may lead to a risk of
     "urban terrorist groups in this country of a sort without
     precedent in our history.These groups are likely to
     have available to them the sort of technical knowledge
     needed to use the now widely disseminated instructions
     for processing fissile materials and for building a
     nuclear weapon.  They are also liable to be able to
     carry out reasonably sophisticated attacks  on installa-
     tions and transportation.  We believe these new factors
     necessitate an immediate and far reaching change in the
     way we conduct our safeguards programs."13

     In "The Plutonium Decision"  (appended hereto), we reviewed the

steps the AEC suggests might be taken to correct present safe-

guards inadequacies.  We discussed why an "adequate" system of

safeguards may be impossible to achieve and why such a system

would probably be unacceptable.  One of the recommendations of

the AEC's Rosenbaum Report gives us a flavor of the type of correc-

tive measures required of an adequate system:
13/  Rosenbaum, Dr. David M., et al., op. cit., pp. 2-3.

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                                                               175

          "The Need for Better Intelligence"

        "The first and one of the most important lines of
     defense, against groups which might attempt to
     illegally acquire special nuclear materials to make
     a weapon, is timely and in-depth intelligence.
     Such intelligence may involve electronic and other
     means of surveillance, but its most important as-
     pect is infiltration of the groups themselves.  It
     is not the AEC's business to conduct this sort of intel-
     ligence, but it is the AEC's business to see that those
     agencies of the United States Government which have
     intelligence gathering responsibilities including the
     FBI, CIA, and NSA, focus their attention upon this
     particular threat to our national defense and security."

     This is not the Houston Plan, rather it is part of the

"Blueprint for Plutonium Recycle."

          In reply to a recent letter from Senators Mondale and

Hart questioning the wisdom of a commitment to plutonium recycle at

this time, the AEC's Director of Regulations wrote:15

       "The AEC safeguards program has as its objective
     achieving a level of protection against such acts
     [as unauthorized possession and sabotage of nuclear
     facilities] to insure against significant increases
     in the overall risk of death, injury, or property
     damage to the public from other causes beyond the
     control of the individual."  [emphasis added]

and elsewhere:

     "... studies are required to determine the additional
     specific safeguards measures or combinations thereof
     that will be required to meet the Commission's safeguard
     objective.  Until these are completed the Commission
     will not be in a position to judge the exact nature of the
     measures that should be established to protect plutonium
     and other special nuclear materials."

In other words, not only are the present safeguards inadequate,

the AEC staff has not even developed an adequate program on paper.

     Moreover, the nuclear industry is not even complying with the

currently inadequate safeguards regulations.  On October.31, 1974,
IV  Ibid.

15/  Letter of Regulatory Staff Response to Questions on Pu Recycle,

-------
176

the AEC announced it was fining the General Electric Company

(plants at Vallecitos, California)  and Nuclear Fuel Services (West

Valley facility)   $12,500 and $4,000,  respectively, for safeguards

violations involving failure to have required intrusion monitoring

and alarm systems and physical barriers to protect against industrial

sabotage. ^

     B.  Plutonium Exposure

     Occupational as well as public exposure to plutonium' has already

become commonplace.  Robert Gillette,  in the first of a three part

series in Science, describes the present state of the industry:

     "Increasingly, and with a frequency that seems
     disproportionately high, incidents of plutonium
     inhalation are being recorded from a small group
     of privately owned and operated facilities en-
     gaged not in weapons work but in reclaiming plu-
     tonium  from reactor fuel and recycling it in new
     reactor fuel. . . .

       "The record reveals a dismal repetition of leaks
     in glove boxes; of inoperative radiation monitors;
     of employees who failed to follow instructions; of
     managers accused by the AEC of ineptness and failing
     to provide safety supervision or training to employ-
     ees; of numerous violations of federal regulations
     and license requirements; of plutonium spills
     tracked through corridors, and, in half a dozen
     cases, beyond plant boundaries to automobiles,
     homes, at least one restaurant, and in one in-
     stance to a country sheriff's office in New Y
     In recent months in two separate incidences production workers

have come to Washington to complain to AEC officials about the

health and safety practices at the fuel fabircation facilities

where they worked.  These workers were accompanied by officials of

their union, the Oil, Chemical and Atomic Workers  (OCAW) .  The first

case involved a meeting on August 13, 1974, with workers from
16/  AEC News Releases, November 6, 1974, p. 2.

17/  Gillette, Robert, Science 185  (20 September 1974), pp. 1030-1031

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                                                               177

the Nuclear Fuel Services'  (NFS) Erwin, Tennessee facility;18 the

second meeting on September 27, 1974, involved employees of Kerr-

McGee's Cimarron Facility near Crescent, Oklahoma.

     The employees from the NFS-Erwin facility had five areas of

specific concern, the following three of which were verified by
                            1 q
subsequent AEC inspections.

     0     The company has  failed to reduce exposures to meet

           the "as low as practicable"  (ALAP) requirement expressed

           in the AEC regulations.

     0     The company has  failed to provide adequate radiation

           surveys.

     0     The company has  failed to perform adequate biological

           monitoring, i.e., determination of uptake of radio-

           active materials by workers.
18/  This facility i.s presently fabricating enriched uranium
fuel rods and has not fabricated any plutonium fuel in the
past 18 months.  However, the allegations and subsequent
violations cited by the AEC involved practices occurring
both during and prior to the last 18 months.

19/  Internal memorandum to N.C. Moseley, Director, Region II from
John G. Davis, Deputy Director for Field Operations, "Allegations
Against NFS, Erwin — Meeting with OCAW Representatives," with
attached Note to Files, "Nuclear Fuel Services, Erwin, Tennessee,
License No. 70-143 -- Meeting with Representatives of the Oil,
Chemical, and Atomic Workers International Union," dated August 29,
1974.
     Letter to Mr. William Manser, Jr., Plant Manager, Erwin,
Tennessee from N.C. Moseley, Director, Directorate of Regulatory
Operations, U.S. AEC [RO:II:FJL 70-143/74-01]  dated October 11, 1974,
     Letter to Mr. William Manser from N.C. Moseley, U.S. AEC
[RO:II:FJL 70-143/74-01] dated October 18, 1974.
     Two allegations of willfulness were not verified but are still
indispute.  These include:  a)   The company has failed to permit
OCAW representatives to accompany AEC inspectors as required by
10 CFR 19; and b)   The company has failed to notify workers of
overexposures as required by AEC regulations.

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 178






The following is a sample of the information presented in support



of the employee concerns cited above:




     Failure of the company to meet ALAP.




     0     Lunchrooms.   The company provides two lunchrooms.



           Workers are permitted to enter  the lunchroom after




           washing hands and donning shoe  covers over shoes



           worn in the production area.  The clothing worn in




           the production area is worn in  the lunchroom.   A




           monitor is provided for use by  the workers.  The



           sink provided for washing hands also is used to




           wash parts from vending machines.  Workers state



           that these parts have shown contamination.  One of




           the lunchrooms is immediately adjacent to a production



           area.  A taped closed door serves as a wall.  The



           workers contend that radiation, i.e., radioactive



           material, enters the lunchroom  as evidenced by con-



           tamination on food dispensing machines.  The



           workers state that up to 40,000 dpm have been



           measured on a beverage vending  machine.  In excess



           of 20,000 dpm were measured inside the machine.




           Several vending machines were removed from service




           and replaced because of contamination.  The current



           location of the machines was not known.




     Failure to provide adequate radiation surveys.



     0     With regard to surveys for removable contamination,




           there are no instructions on how this is to be'done



           and no established frequency for surveys.

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     0     Previously, there had been routine surveys of

           workers by health physics technicians.  Those

           no longer are performed.

A complete summary of the NFS-Erwin allegations is contained in an

AEC "Note to Files," dated August 29, 1974,20 which is appended

to our testimony.  After investigating these allegations, the AEC

cited NFS for two licensing violations which required immediate

action and subsequently cited NFS for five licensing violations. ^~

The letters reflecting these citations are also appended here.

     The employees from the Kerr-McGee Cimarron facility alleged

among other things that:

     0     Employees were not educated as to the hazards of

           plutonium.  One employee, Karen Silkwood, related

           that she had worked at the facility one and one-half

           years before learning that pltuonium exposure could

           cause cancer.  She also said that she never received

           a respirator that fit her face which was narrow,

           although the company had promised to order her

           respirator that fit over a year earlier.

     0     Employees coming on board were often sent directly

           to production work before receiving classroom health
20/  Internal memorandum to N.C. Moseley, Director, Region II from
Zlohn G. Davis, Deputy Director for Field Operations, "Allegations
Against NFS, Erwin — Meeting with OCAW Representatives," with
attached Note to Files, "Nuclear Fuel Services, Erwin, Tennessee,
License No. 70-143 —"Meeting with Representatives of the Oil,
Chemical, and Atomic Workers International Union," dated August 29,
1974.

21/  Letter to Mr. William Manser, Jr., Plant Manager, Erwin, Tennessee,
fTom N.C. Moseley, Director, Directorate of Regulatory Operations, U.
S. AEC [RO:II:FJL 70-143/74-01]  dated October 11, 1974.  Letter to
Mr. William Manser, Jr., Plant Manager, Erwin, Tennessee from
N.C. Moseley, Director, Directorate of Regulatory Operations,
U.S. AEC [RO:II:FJL 70-143/74-01] dated October 18, 1974, Enclosure 1.

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  180

           and safety training.   One worker,  unaware of the

           hazards of plutonium exposure,  was purportedly

           badly contaminated,  and quit work  the next day

           before he received any health and  safety training.

      o    Production workers have been required to wear

           respirators for an entire week due to high activity

           air concentration levels (above MFC)  in the pro-

           duction area,  the emphasis being on meeting produc-

           tion schedules as opposed to locating the source

           of contamination.

      o    Plutonium was  stored in unapproved areas (e.g., desk

           drawers).

      o    There was no routine procedure for changing filters

           on respirators.

These are but some of the allegations still being investigated by

the AEC, and as of this date the AEG has not  issued a report or

cited the company for licensing violations pertaining to these

allegations.

     On November 7,  1974, some five weeks after meeting with the

AEC officials, Karen Silkwood,  upon reporting to work at the Kerr-

McGee facility, was found to be externally contaminated with plu-

tonium.  Plutonium alpha contamination levels up to several thou-

sand disintegrations per minute were found on her clothing and

body.    Subsequently, her roommate, also a Kerr-McGee employee,

and their apartment were found to be contaminated.  Isolated areas
22/  Directorate of Regulatory Operations Notification of an Incident
or Occurrence, at Facility:  Kerr-McGee Nuclear Corporation -
Crescent, Oklahoma Cimarron Plutonium Facility, License No. SNM-1174
Docket No. 70-1193, dated 11/11/74, No. 134.

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                                                                 181

of contamination ranging up to a few hundred thousand disintegra-

tions per minute were found in the kitchen, bathroom and bedroom

areas. 3  Less than two weeks later Ms. Silkwood was killed in an

automobile accident on the way to a meeting with a union official

and a New York Times reporter to provide background information in

support of an allegation that the facility was manufacturing

faulty plutonium fuel rods and falsifying q\iality assurance in-

spection reports.  There have been several as yet unsubstantiated

allegations pertaining to this incident, including that her death

was the result of foul play, ^ and that she smuggled plutonium
                                                     0 ^
from the plant and deliberately contaminated herself.    The entire

bizarre incident related to her exposure and death is still under

investigation.  It is known from fecal and urine samples taken

when she was alive, and an autopsy after her deathf that Ms. Silkwood

ingested a very large amount of plutonium.

     There have been several recent cases where members of the

public have inadvertently been exposed to plutonium.  Moreover,

it is well known that the area east of the Rocky Flats plant in

Colorado is contaminated with plutonium.  Recently the Environmental

Protection Agency indicated that cattle grazing in this area show
2V  Ibid.

24/  The New York Times, November 19, 1974 and November 20, 1974.

2_5/  The Washington Post, December 8, 1974, p. A3.  This same report
stated : "Kerr-McGee sources say their internal investigation has
determined that a fuel rod inspection report was falsified at least
20 times over the summer months by William Scott Dotter, a former
employee.  That prompted a search by Kerr-McGee and Westinghouse
Corp., the contractor, for the affected rods, either in Oklahoma
or at Richland.
    "Dotter says he did nothing deliberately, although he may have
included erroneous information in reports because he does not feel
he was adequately trained for the job."

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  182

a high degree of plutonium in their lung.26  The implication of

this for humans in the area is obvious.   These recent events follow

a history of serious public exposure and offsite contamination, in-

cluding but not limited to the exposure  of Edward Gleason,  a
                                 ?7
stevedore in a trucking terminal,    the  fire and explosion  at Gulf-

United 's plutonium facility in Pawling,  New York,28 the burnup of a

SNAP reactor over the Indian Ocean, plutonium found at the  bottom

of the Erie Canal next to Mound Laboratory, and surface contamin-

ation near Palomares, Spain and Thule,  Greenland resulting  from

the non-nuclear detonation of strategic  weapons.

     Aside from highlighting the deplorable state of affairs presently

existing in the fledgling plutonium industry, these most recent

plutonium exposures are evidence of the  need to take urgent action

to insure that the present radiation standards applicable to plu-

tonium exposure are adequate.  This brings us to the final  chapter

of our presentation — the adequacy of the present plutonium expo-

sure standards.
2t/  The Washington Post, December 6, 1974, p. 3.

27/  Tamplin, A.R. and T.B. Cochran, "Radiation Standards for Hot
Particles," op. cit., Appendix B.

28/  Gulf United Nuclear Fuels Corporation, "Report of Incident at
Gulf United1s Plutonium Facility at Pawling, New York," Elmsford,
New York (January 19, 1973).

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                                                                183

Hot Particle Petition

     Beginning in 1969, the existing radiation exposure standards

came under strong public criticism.  As a consequence, an Advisory

Committee on the Biological Effects of Ionizing Radiation (the

BEIR Committee) of the National Academy of Sciences was convened to

review the biological data on the effects of radiation as they relate

to the exposure standards.  In November, 1972, three years after the

debate began, the committee issued its report and stated the existing

standards were unnecessarily high.^9  it is now two years later and

the EPA has not reduced these standards.  While they may have serious-

ly considered this matter, and perhaps even performed some additional

studies, nevertheless the same discredited exposure standards are

in the Code of Federal Regulations.

     It was ten months ago that NRDC petitioned the EPA and AEC

relative to the plutonium standards.  Just recently EPA asked the

BEIR Committee of the NAS to study the question.  If history repeats

itself, five years from now EPA will have done nothing about the

plutonium standards.

     In the meanwhile, nuclear industry employees and members of the

public are being exposed to plutonium, many at or above the standards

we have urged.  We would hope that one of the strong recommendations

of this panel is to tell EPA that it is time to take the steps that

are required.  EPA has a strong ethical and legal obligation to take

action without delay on the hot particle issue.  Given the immediacy
     NAS-NRC, "The Effects on Populations of Exposure to Low Levels
of Ionizing Radiation," (BEIR Report), NAS-NRC,  Washington,  D.C.,
November, 1972.

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   184
of the problem,  the lapse  of  10 months between the filing of our
petition and the initiation of these  hearings and the National
Academy of Sciences review is simply  deplorable.

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             bulletin
             OF THE  ATOMIC SCIENTISTS
                                   185
 (Reprinted  by  permission  of  the  Bulletin of  the Atomic  Scientists
 and  the authors.   Copyright  (c)   by  the  Educational Foundation for
 Nuclear Science.)'
                   Plutonium  Recycle:

                        The  Fateful  Step

          Impending move to reprocess fuel would escalate  the  risks of nuclear power
    / fear that when the history of this century is
  written, that the greatest debacle of our nation
  will be seen not to be our tragic Involvement in
  Southeast Asia but our creation of vast armadas
  of plutonium, whose safe containment will rep-
  resent a major precondition for human survival,
  not for  a few decades or hundreds of years, but
  for thousands of years more than human civili-
  zation has so far existed.
                   James D. Watson
                   Nobel Laureate, Medicine
 J. GUSTAVE SPETH, ARTHUR R. TAMPLIN
         and THOMAS B. COCHRAN

  The Atomic Energy Commission, if unchecked, is
about to sow the seeds of a national crisis. The Com-
mission now proposes to authorize the nuclear power
industry to proceed to use plutonium as fuel in com-
mercial nuclear reactors around the country. The re-
sult of a decision approving this commercial use of
plutonium will be the creation of a  large civilian plu-
tonium industry and a dramatic  escalation in  the
risks posed by nuclear power.
  This decision to launch what the AEC calls  the
plutonium economy is the conclusion of the AEC's
recently released draft environmental impact state-
ment for plutonium recycle: the recycling of plutoni-
um as fuel in the present generation of light water
reactors [1,2]. The final version of the impact state-
ment, which is expected to confirm the decision to
authorize plutonium recycle, is due in a few months.
  Plutonium is virtually unknown in nature; the en-
tire present-day inventory is man-made, produced in
nuclear reactors. Plutonium-239, the principal  iso-
tope of this element, has a half-life of 24,000 years,
    J. Gustaue Speth (attorney), Arthur R. Tamplin
  (biophysicist)  and Thomas B. Cochran (nuclear
  physicist) are on the staff of the Natural Resources
  Defense Council in Washington, D. C. Dr. Tamplin
  is on leave of absence from the Lawrence Livermore
  Laboratory of the University of California.
hence its radioactivity is undiminished within human
time scales. It is perhaps the most toxic substance
known. One millionth of a gram has been shown ca-
pable of producing cancer in animals [3]. Plutonium
is also the material from which nuclear weapons are
made. An amount the size of a Softball is enough
for a nuclear explosive capable of mass destruction.
Scientists now widely recognize that the design and
manufacture of a crude nuclear explosive is no longer
a difficult task technically, the only real obstacle
being the availability of the plutonium itself [4].
  We believe that the commercialization of plutoni-
um  will place  an intolerable  strain on our society
and its institutions.  Our unrelenting nuclear tech-
nology  has presented us with a possible new fuel
which we are asked to accept because of its potential
commercial value. But our technology has again out-
stripped our institutions, which are not prepared or
suited to deal with plutonium. Those who have asked
what changes in our institutions will be necessary to
accommodate plutonium have come away from that
enquiry profoundly concerned. And the AEC's en-
vironmental impact statement does not allay these
concerns. It reinforces them.
  The AEC concedes that the problems of plutonium
toxicity and nuclear theft are far from solved and in-
dicates  that they may not be  for some years. Yet it
concludes, inexplicably,  that  we should  proceed.
Whether stemming from blind faith in  the technol-
ogy it has fostered or from callous promotion of the
bureaucratic and industrial interests of the nuclear
power complex, the AEC's proposal cannot be justi-
fied in light of what we know and, just as important,
what we do not know.
  The fuel now  used in  present-day reactors, the
light water reactors, is uranium which has been en-
riched;  the uranium-235 content is increased from
0.7 percent present in natural uranium to. about 3
or 4 percent. Uranium-235 is a fissionable isotope of
uranium, the remainder  being non-fissile uranium-
238. Unlike plutonium, uranium fuel is not extreme-
ly toxic, and it is not sufficiently rich in uranium-235
to be fashioned into nuclear weapons. The uranium
                  NOVEMBER  1974    VOLUME XXX
                NUMBER  9
                                                                                       16

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     186
        The current AEC radiation protection standards governing the amount of plutonium  to
     which members of the public can be exposed are roughly 100,000 times too lax.
can be enriched to weapons grade material only with
extremely  sophisticated  technology which is  not
available to  the  public, notably  gaseous diffusion
plants.
  While present-day reactors  are operating, how-
ever, they are also producing as a by-product mod-
erate amounts of plutonium, principally plutonium-
239. A typical  large reactor produces about 200 to
250 kilograms  of plutonium each year.  Since  this
plutonium is easily fissioned, it can be used as reac-
tor fuel. Plutonium recycle is the nuclear industry-
AEC proposal to  recover the plutonium produced in
light water reactors, process it and recycle it as fuel
back into these reactors.
  Several critical steps are involved in recycling this
plutonium. First, the used or spent fuel from the re-
actor  must be shipped  to a fuel reprocessing plant
where the plutonium is recovered from the spent fuel,
converted to oxide form and shipped to the next fuel
cycle  stages—the  fuel  fabricating  and assembly
plants. At a fuel fabricating plant the plutonium ox-
ide will be mixed with  uranium  oxide  into mixed
oxide  fuel.  This mixed oxide fuel  will be fabricated
into fuel pellets, the pellets will be placed in fuel rods,
and these rods will be collected into fuel assemblies.
These assemblies will then be sent to the reactors for
use, thus completing the fuel cycle.
  At this point plutonium recycle has not yet begun,
and there is no major industrial commitment of re-
sources to it [5]. No major commercial  plutonium
fuel fabricating plants are operating or under con-
struction.*  No commercial  reprocessing  plants are
operating now.** Reprocessing plants, in addition to
recovering plutonium and other fission products from
the spent fuel, are supposed to solidify high-level
wastes and ship them to a permanent AEC reposi-
tory for perpetual management. As yet, however, the
AEC has no such  repository. Nor does the AEC know
whether the  technology and social institutions for
isolating these high-level wastes for geologic periods
can be made available.
  If the plans of the AEC and the nuclear industry
are permitted, however, a major plutonium industry
will develop  quickly. Some 140 tons  of  plutonium
could be recovered from commercial reactors by 1985
  "There are, however, several small commercial facilities
that process plutonium for research and development pur-
poses
  **The first commercial reprocessing plant built in the
United States, Nuclear Fuel Services in West Valley, New
York,  was shut down in 1972 for repairs and enlargement.
The Midwest Fuel Recovery Plant under construction near
Morris, Illinois, has been declared an almost total loss due to
faulty  design and construction  [6].  The Barnwell Nuclear
Fuel Plant in South Carolina is 70 percent complete. Thus,
since mid-1972, all spent fuel from light water reactors has
been simply stored  and not reprocessed.

16
and some 1,700 tons by the year 2000 [7]. A pluto-
nium industry by the turn of the century could in-
volve hundreds of light  water reactors  fueled with
plutonium, perhaps a score of fuel reprocessing and
fabricating plants, and thousands of interstate and
international shipments containing hundreds of tons
of plutonium.

Plutonium Toxicity

  The most pernicious product of the nuclear indus-
try  is plutonium.  Microgram  quantities in skin
wounds cause cancer, and in the body plutonium is
a bone seeker  where,  once deposited, it can cause
bone cancer. But plutonium is most dangerous when
inhaled. Donald Geesaman explains this hazard:

    Under a number of probable conditions  plutonium
  forms aerosols of micron-sized particulates.  When lost
  into uncontrolled air these particulates can remain sus-
  pended for a significant time,  and if inhaled they are
  preferentially deposited in the deep lung tissue, where
  their long residence time and high alpha activity can
  result in a locally intense tissue  exposure. The lung
  cancer risk associated with these radiologically unique
  aerosols is unknown to orders of magnitude.  Present
  plutonium standards are certainly irrelevant and prob-
  ably not conservative. Even so, the fact that under
  present standards, the permissible air concentrations
  are about one part per million billion is a commentary
  on plutonium's potential as a pollutant [3].

  To determine whether the AEC's radiation pro-
tection standards for plutonium are inadequate, as
Geesaman suggests, two of the authors of this article
undertook a review of the biological evidence for  the
Natural Resources Defense Council  (NRDC). Their
report, Radiation Standards /or Hoi Particles  [9],
concludes that plutonium particulates  or hot par-
ticles are uniquely virulent carcinogens and that  the
current AEC radiation protection standards govern-
ing the amount of plutonium to which members of
the public can be exposed are roughly 100,000 times
too lax.
  The lung cancer risk associated with hot particles
of plutonium, as estimated by Tamplin and Cochran,
is comparable to the lethal dose of botulin toxin, a
biological warfare agent.  Certainly one  would hope
that this nation would give careful consideration and
pursue all alternatives before implementing an ener-
gy policy based on such  toxic materials.
  As a result of this study, NRDC formally petitioned
the AEC and the Environmental Protection Agency
to reduce the present maximum permissible exposure
levels by 100,000. Neither the AEC nor the EPA have
responded finally to NRDC'S petition, but the petition
is now being  considered  by National  Council  on
Radiation Protection  and Measurements, National
Academy of  Sciences, Biophysical Society and sev-
eral AEC national laboratories. Moreover, EPA  will

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                                                                                                       187
shortly commence a series of hearings and other in-
itiatives  on plutonium-related issues, including the
hot particle controversy.
  Although the adequacy of the AEC's plutonium
standards is thus a matter of considerable doubt and
great controversy, the AEC's draft environmental im-
pact statement for plutonium recycle simply assumes
that the present standards are adequate. The entire
risk analysis of the statement, as well as the ultimate
decision to proceed with plutonium recycle, are based
upon a premature and unexplained rejection of the
hot particle hypothesis. Yet, the AEC  is forced to
concede that this hypothesis "is being given  careful
consideration in a separate proceeding" [2, chap. 4,
pp. 5-7].
  We submit that the AEC has no basis whatever to
conclude that plutonium recycle will not cause undue
risk to the public health and safety until it has either
satisfactorily resolved the hot particle issue or calcu-
lated the impacts of plutonium recycle using  the as-
sumption that hot  particles  are uniquely carcino-
genic. The  AEC's draft environmental impact state-
ment for plutonium recycle does neither. However,
the more basic issue is whether we want our  energy
system based  on  a  material of  unprecedented
toxicity.
  Some  plutonium  contamination of  the environ-
ment has already occurred, due principally  to the
atomic weapons program. The leakage of plutonium
from contaminated oil at the AEC's plutonium wea-
pons plant at Rocky Flats, 10 miles west of Denver,
Colorado, led to an uncontrolled source of plutonium
which  was  much  larger than the integrated effluent
loss during the 17 years of plant operation. Tens to
hundreds of grams  of plutonium  went off-site, 10
miles upwind from Denver [3, p. 59].
  The Nuclear Materials and Equipment Corpora-
tion (NUMEC)  of  Apollo, Pennsylvania, was recently
fined $13,720 for a 16 count violation of AEC regu-
lations ranging from failure to follow radiation moni-
toring  procedures to failure to  comply with certain
safeguards requirements [9].  Production workers
at Nuclear Fuel Services, Inc. in Erwin, Tenn., a fuel
processing  and fabricating facility, met with AEC
inspectors  on  August  13, 1974 to complain  about
the absence of even the rudiments of accepted health
physics practices at that plant. Occurrences such as
these can reasonably be expected to multiply greatly
if plutonium is made a major article of commerce.
Nuclear Theft
  On May 18 of  this year the world was made dra-
matically aware of the relationship between nuclear
power  and nuclear weapons when  India exploded a
nuclear device made from plutonium taken from a
peaceful  reactor built with Canadian assistance. The
magnitude of the threat posed by the availability of
plutonium from power reactors is set out by Willrich
and Taylor in their book Nuclear Theft: Risks and
Safeguards:
     As fuel for power reactors, nuclear weapon material
   will range in commercial value from $3,000 to $15,000
   per kilogram—roughly comparable to the value of black
   market heroin.  The same material might be hundreds
   of times more valuable to some group wanting a power-
   ful means of destruction. Furthermore, the costs to so-
   ciety per kilogram of nuclear material used for destruc-
   tive purposes would be immense. The dispersal of very
   small amounts of finely divided plutonium could neces-
   sitate evacuation and decontamination  operations  cov-
   ering several square kilometers for long periods of time
   and costing tens or hundreds of millions of dollars.  The
   damage could run to many millions of dollars per gram
   of plutonium used. A nuclear explosion with a yield of
   one kiloton could destroy a major industrial installation
   or several large office buildings costing hundreds of mil-
   lions to billions of dollars  The hundreds or thousands of
   people whose health might be severely damaged by dis-
   persal of plutonium, or the tens of thousands of people
   who might be killed by a low-yield nuclear explosion in
   a densely populated area  represent incalculable but im-
   mense costs to society [4, pp. 107-108].
   In our troubled world, terrorist activity and other
forms of anti-social violence are  an almost daily oc-
currence.  A recent  AEC study identified more than
400 incidents of international terrorism carried out
by small groups  during the past six years [10]. In an
age of bombs and bomb threats, of aircraft hijacking,
of the ransom of diplomats and the murder of  Olym-
pic athletes, the risks of nuclear theft, blackmail and
terrorism  are not minimized even  by some of the
most  ardent  supporters of nuclear energy.  Thus
former Atomic Energy Commissioner Clarence Lar-
son has described the evolution of a'plutonium black
market:
   Once special nuclear material is successfully stolen in
   small and possibly  economically acceptable quantities,
   a supply-stimulated market for such illicit material is
   bound to develop. And such a market can surely be ex-
   pected to grow once the source of supply has been iden-
   tified As the market grows, the number and size of
   thefts can be expected to grow with it, and  I fear such
   growth would be extremely rapid once it begins. .. .Such
   theft would quickly lead to serious economic burdens to
   the industry, and a threat to the national security [11].
   The critical point here is that these  tremendous
risks will become real with the advent of plutonium
recycle. Unless plutonium is  reprocessed and recy-
cled,  the possibility that it will be stolen is small. If
the plutonium has not been detoxified by separating
it from the high-level wastes in the spent fuel at a re-
processing plant, it is very effectively protected from
theft, at least for  hundreds of years. Willrich and
Taylor explain these relationships:
     In the light water reactor (LWR) fuel cycle without
   plutonium recycle, plutonium which is produced  in a
   power reactor,  if reprocessed, might be stolen  at the
        Is the American public willing  to accept the risks of  plutonium in exchange for  the
     promised benefits?
                                                          November 1974 Bulletin of the Atomic Scientists  17

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    188
   output end of a reprocessing plant, during transit from
   the reprocessing plant to any separate storage facility
   ised, and from a long-term plutonium storage facility.
   Until irradiated fuel is reprocessed, the theft possibil-
   ities in the LWR  fuel cycle are  minimal.  (Emphasis
   added.)
    In the LWR fuel cycle with plutonium  recycle, in
   addition  to  possibilities without recycle,  plutonium
   might be stolen during transit from any separate long-
   term storage facility, and from a fuel fabrication plant.
   Complete LWR fuel assemblies, each containing a sig-
   nificant quantity of plutonium might also be  stolen
   during transit from a fuel fabrication plant to a  power
   reactor, and  at a power plant prior to loading into the
   reactor, although the weight of each assembly makes
   this difficult [4, p  168],

In sum,  plutonium recycle will  bring with it all the
risks  associated with nuclear theft that numerous
authors  have  described [12]. Reasonable prudence
dictates, therefore, that we have  adequate  answers
to the problem of nuclear theft well in  hand before
we begin plutonium recycle.

Safeguards and the AEC

   In the language  of the nuclear industry, the vari-
ous programs  and techniques to prevent nuclear theft
and recover stolen nuclear material are  called 'safe-
guards.'  There is  now widespread agreement—at
least among those outside the nuclear industry—that
present safeguards against nuclear theft  are woefully
inadequate [13].  The  AEC's  Rosenbaum Report
concluded:

    In recent years the factors  which make safeguards a
   real, imminent and vital issue have changed rapidly for
   the worse. Terrorists groups  have increased their pro-
   fessional skills, intelligence networks, finances and level
   of armaments throughout the world. . . .Not only do
   illicit nuclear weapons present a greater potential pub-
   lic hazard than the radiological dangers associated with
   power  plant  accidents, but.  . .the relevant  regulations
   are much less stringent [13].

The problem is not simply that the AEC has not im-
plemented the necessary safeguards programs; rather
the agency has not even developed an adequate pro-
gram on paper.
   On the subject of safeguards, the AEC's draft im-
pact statement on plutonium recycle is a marvel of
clouded  reasoning  and breezy optimism. The state-
ment concedes that the objective of keeping the risk
of nuclear theft small "will not be fully met for the
recycle of plutonium by  current safeguards  meas-
ures"  [2, pp. 5-6]. Steps which might  be taken to
correct current inadequacies are then  summarized
in the statement as follows:

     1 Minimization or elimination  of the transportation
   of plutonium from reprocessing plants to mixed oxide
   fuel fabrication facilities which is the operation most
   vulnerable to an attempted act of theft or sabotage. To
   the extent that such shipments are minimized or elim-
   inated, the  safeguarding of  plutonium would  be en-
   hanced. This objective can be accomplished by locating
   mixed oxide fuel fabrication plants in close proximity
   to or adjacent to reprocessing plants in Integrated Fuel
   Cycle Facilities. ..  .
     2. Further protection of transportation functions by
   use of massive shipping containers, special escort or
   convoying measures, vehicle hardening against  attack,

18
    improved communications and response capabilities.
     3. Additional hardening of facilities through new bar-
    rier requirements, new surveillance instrumentation,
    new delaying capabilities (e.g., incapacitating gases).
     4. Upgrading  of  operating and guard functions
    through the use  of personnel security clearance pro-
    cedures, a federally operated nuclear security system,
    more advanced systems for monitoring and searching
    of personnel, and closer liaison with law enforcement
    authorities.
     5. Improving the timeliness and sensitivity of the sys-
    tem of internal control and accountability of plutonium.
     6. Use of 'spiked' plutonium which would be less sus-
    ceptible to theft and would be more difficult to manu-
    facture into a nuclear explosive because of the required
    elaborate handling procedures [2, pp. 5-7].
    Despite the facts that: (1) these proposals are pre-
 liminary and their content not well defined, (2) they
 are still being studied, some apparently for the  first
 time,  (3) some would  require Congressional action,
 (4) some would necessitate substantial changes in
 the structure of the U.S. utility industry, and (5) a
 sophisticated safeguards program would pose a major
 threat to civil liberties and personal privacy—despite
 all these facts the draft impact statement neverthe-
 less recommends that we proceed now with plutoni-
 um recycle because "the Commission has a high de-
 gree of confidence that through implementation of
 some  combination of the above concepts  the safe-
 guards general objective set forth earlier can be met
 for plutonium recycle" [2, pp.  5-7]. The Commis-
 sion's faith,  unfortunately, is hardly reassuring.
    The AEC's lead safeguards suggestion—the Inte-
 grated Fuel  Cycle Facility concept—merits  special
 comment. It actually  represents  a major watering
 down of  a  far more significant concept, that of nu-
 clear power parks where reactors  as  well as fuel re-
 processing  and fabricating plants are all located at
 one site [14]. In our judgment,  a safeguards system
 which does not require nuclear parks is not address-
 ing the problem of theft during transportation  in a
 serious and responsible way. Moreover, the nuclear
 industry's  current plans, already well advanced, do
 not call for the implementation of even the Integrat-
 ed Fuel Cycle Facilities  concept.
 Adequate  Safeguards?
    While it may be possible to devise an  adequate
 safeguard system in theory, there is little  reason to
 believe that such a  system would be acceptable in
 practice  [15]. This is true for several reasons.
    First,  the problem is immense. The illegal diver-
 sion of weapons material  is only one type of anti-
• social behavior a safeguards program must  protect
 against.  Terrorist acts against  the  reactors, ship-
 ments of radioactive wastes, fuel  reprocessing facili-
 ties and waste repositories can result in catastrophic
 releases  of  radioactivity. Such  threats against nu-
 clear  facilities have already occurred  [16]. More-
 over,  a safeguards system would have to exist  on  a
 vast,  worldwide basis. Some 1,000  nuclear reactors
 are projected for the United States in the year 2000,
 with hundreds of shipments of radioactive materials
 daily. Hundreds of tons of plutonium will be in the
 commercial  sector of  our  economy by that date.

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                                                                                                 189
       To accommodate plutonium we shall have to move toward a more intimidated society
     with greatly reduced freedoms.
Abroad, American firms are constructing nuclear re-
actors in countries that have little political stability
and in countries, such as Japan, who have not sighed
the Non-Proliferation Treaty. Safeguarding nuclear
bomb material would ultimately require a  restruc-
turing of the socio-political institutions on a world-
wide scale. The United Nations unfortunately gives
us little reason to believe that this is a practical re-
ality.
  Second, safeguards measures are strongly opposed
by the nuclear industry. The degree to which the in-
dustry is  sensitive  to the  diversion hazards and is
likely to be an effective partner in the enforcement
and implementation of safeguards programs was ap-
parent in  the vociferous  industry opposition to the
modest  strengthening of the AEC safeguards rules
which were first published  in the February  1, 1973,
Federal Register  [17].
  Third, experience with present safeguards is hard-
ly reassuring.  Nuclear Materials  and Equipment
Corporation, over several years of operation, was un-
able to  account for six percent  (100 kilograms) of
the weapons grade material that it handled. As noted
previously,  it was also fined by the  AEC,  in part,
because of  safeguards violations.  At a  safeguards
symposium the director of the AEC's Office of Safe-
guards  and Materials Management  observed  that
"we have a long way to go to get into that happy land
where one can measure scrap effluents, products, in-
puts and discards to a one percent accuracy" [3, p.
59]. This statement takes on particular significance
when it is realized that only one-half of one percent
of the plutonium utilized by the commercial sector in
the year 2000 is enough to make hundreds of atomic
bombs. The editors of the  Bulletin have  noted that
the frequent 'misroutings'  of shipments of weapons
grade materials highlights a key safeguards problem
—hijacking [18].
  A spot-check by General Accounting Office inves-
tigators at  three AEC-licensed  contractors showed
that in  some cases access to easily portable quanti-
ties of special nuclear material could be gained in less
than a minute using the simplest of tools. At two of
the three plants checked, GAO found weak physical
barriers, ineffective guard  patrols,  ineffective alarm
systems, lack of automatic-detection devices, and the
absence of an action plan should material be stolen
or diverted. AEC's inspectors, however, were giving
the same facilities good marks on virtually every se-
curity category [GAO, 13].
  Fourth, and perhaps most basically, there is little
reason to believe that safeguards will work when little
else does. For example, the AEC supports the crea-
tion of a federal police force to provide an immediate
federal presence  whenever  the use of force may be
needed to protect these incredibly dangerous mate-
rials from falling into the hands of  would-be sabo-
teurs and blackmailers. But is there anyone who be-
lieves that police are effective at a level  commen-
surate with the potential nuclear hazard? The New
York City police department was proven incapable
of maintaining security over confiscated heroin. Are
similar losses of plutonium  acceptable?
  The general point here is  that our safeguards sys-
tem must be essentially infallible. It must  maintain
what Alvin Weinberg, former director of  the Oak
Ridge National  Laboratory,  has  called "unaccus-
tomed vigilance" and "a  continuing  tradition  of
meticulous attention to detail" [19]. Yet our human
institutions are  far from infallible.  Our experience
indicates that rather than sustaining a high degree
of esprit, vigilance and meticulous attention to de-
tail, our governmental bureaucracies instead become
careless,  rigid, defensive and, less  frequently, cor-
rupt. A basic question, then, is whether we want to
entrust so demanding and unrelenting a technology
as plutonium recycle to institutions which are negli-
gent of their own responsibilities and insensitive to
the rights of others and to technical fixes which are
untried and unproven.

Threat to Civil Liberties

  One principal reason for our believing that an ade-
quate safeguards system would not be acceptable in
practice is the tremendous social cost of such a sys-
tem in terms of human freedom and privacy. Safe-
guards necessarily involve a  large expansion of police
powers. Some one million persons have been trained
in the handling, moving and operation of nuclear
weapons. The projected growth of the nuclear indus-
try will give rise to a parallel and, ultimately, a much
larger group of persons, in this case civilians, who will
be subjected to security clearance and other security
procedures now commonplace in the military wea-
pons program. Indeed, the AEC makes the  following
disturbing statement in its  draft environmental im-
pact assessment of plutonium recycle:

   Security problems are much simplified when it can be
   established with high probability that the persons who
   are responsible for the handling of plutonium or imple-
   menting of related safeguards programs are trust-
   worthy. Various court rulings  in recent years have been
   favorable to the protection of  individual privacy and of
   individual right-to-work. These rulings have made it
   difficult to make a personnel background check of an
   individual in commercial activities to assure with high
   probability that  he is trustworthy and, hence, poten-
   tially acceptable as a steward  for the protection of plu-
   tonium. The AEC has requested legislation which would
   allow background checks of individuals with access to
   plutonium and related material accountability records
   [2, chap. 5, p. 42].
   November 1974   Bulletin of the Atomic  Scientists  19

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   190
  The keeping of police dossiers will not be limited
to nuclear industry personnel. The New York Times
reported August 11 that Texas state police maintain
files on nuclear power plant opponents. How much
more government investigation into the private lives
of individuals can be tolerated by a free society? Se-
curity and surveillance procedures at  best infringe
upon the privacy  of families and their friends.  At
worst, they are  the  instruments  of  repression and
reprisal.
  A second AEC safeguards proposal is the creation
of a federal police force for the protection of plutoni-
um plants and  shipments. The draft impact  state-
ment for plutonium  recycle justifies such a federal
force in the following  terms:

  A federal security system would he less apt to have the
  variations in staff and capability that would be en-
  countered in use of private security guards. In addition,
  it should be noted that the consequences of a successful
  theft or diversion of  plutonium would undoubtedly
  have nationwide impacts and could best be handled by
  Federal authorities, certainly, with  Federal participa-
  tion, there is the potential  for a larger force, more ef-
  fective weapons, and better communications [2, chap 5,
  p. 42].

How large would such a force be? What standards
should govern and restrain its operations? The Wash-
ington Post reported in October 1973 that the AEC
issued shoot-to-kill orders to personnel directing  the
production, shipment and storage of atomic weapons
at the height of the Yom Kippur War.
  Once a significant theft of plutonium or other wea-
pons material has occurred, how will it be recovered?
To prevent traffic in heroin, police have asked for  no-
knock search laws. This infringes upon  one of  our
most cherished freedoms. To live with plutonium we
may have to abandon this freedom along with others.
In  the presence of nuclear blackmail threats, the in-
stitution of martial law seems inevitable. It has been
said that the widespread availability of weapons ma-
terial and terrorists targets in the nuclear fuel cycle
will radically alter the power balance between large
and small social units  (De Nike  [16]). It should be
added that the threatened society will undoubtedly
attempt to redress that balance through sophisticat-
ed  and drastic police action.
   In sum, to accommodate plutonium  we shall have
to  move toward a  more intimidated society with
greatly reduced freedoms. In this respect the follow-
ing passage from the report of the distinguished in-
ternational group of scientists attending the 23rd
Pugwash Conference on Science  and World Affairs
is instructive:
     The problem of theft of nuclear material by internal
    groups of individuals intent on sabotage, terrorism or
    blackmail was agreed to be a very serious one, although
    there was some sentiment expressed that the possibility
    of such activity was much smaller in socialist states.

We believe that sentiment to be true. It is also  ap-
 parent that that is  the direction in which we must
 move to accommodate the nuclear  industry. After
 having spent billions  of dollars for  our  nuclear de-
 terrent, our civilian nuclear industry might well ac-

 20
complish that which our defense system is trying to
prevent.
  Alvin Weinberg is one of the few persons closely
associated with the nuclear power complex who has
looked carefully at the political and regulatory insti-
tutions that will be necessary to support a plutonium-
based nuclear power economy, and his views on this
subject merit close attention [19]. Weinberg's basic
premise is that nuclear power will place unprecedent-
ed strains  on our society.  In  an unpublished paper
circulated  prior to a conference in June 1973 at  the
Woodrow Wilson International  Center for Scholars
in Washington, D.C., Weinberg set out his views on
the type of new institutions  required to  cope with
the plutonium economy:

    One suggestion (proposed by Sidney Siegel) that is
  relevant to the situation in the United States would be
  to establish  a national corporation patterned  after
  COMSAT to take charge of the generation of nuclear
  electricity. Such an organization would have technical
  resources that  must exceed those available to even a
  large utility: and a high order of technical expertise in
  operating reactors and their sub-systems is essential to
  ensuring the continued integrity of these devices. [Here
  Dr. Weinberg suggests nationalization of the industry.]
    Each country now has its own AEC that sets stand-
  ards or, in some cases, actually monitors or operates re-
  actors. Perhaps this will be sufficient forever. Yet no
  government has lasted continuously for 1,000 years:
  only the Catholic Church has survived more or less con-
  tinuously for 2,000 years or  so. Our commitment to nu-
  clear energy is assumed to last in perpetuity—can we
  think of a national entity that possesses the resiliency
  to remain alive for even a single half-life of plutonium-
  239? A permanent cadre of experts that will retain its
  continuity over immensely long  times  hardly seems
  feasible if the  cadre is a national body.
    It may be that an International Authority, operating
  as an agent of the United Nations, could become the
  focus for this cadre of expertise. The experts themselves
  would remain under national auspices, but they would
  be part of a worldwide community of experts  who are
  held together,  are monitored, and are given long-term
  stability  by the International Authority. The Catholic
   Church is the best example of what I have in mind:
   a central authority that proclaims and to a degree en-
   forces doctrine, maintains its own long-term social sta-
   bility, and has connections to every country's own Cath-
   olic  Church. (Emphasis added.)

  These  are  far-reaching concepts presented  by
Weinberg. The basic question they pose is: Will the
plutonium economy raise socio-political problems of
such  magnitude that  their resolution will be unac-
ceptable to society? In attempting to do the impos-
sible—live with plutonium—we may create  the  in-
tolerable.

Super-Human Requirements

   The commercialization of plutonium  will bring
with  it a major escalation of  the  risks and problems
already associated with nuclear power.  Plutonium
will further strain the already weakened regulatory
 fabric of the nuclear industry.
   Hannes Alfven, Nobel laureate in physics, has de-
 scribed the regulatory imperatives applicable to the
 nuclear industry:
     Fission energy is safe only if a number of critical de-
    vices work as they should, if a number of people in key

-------
  positions follow all their instructions, if there is  no
  sabotage, no hijacking of the transports, if no reactor
  fuel processing plant or reprocessing plant or reposi-
  tory anywhere in the world is situated in a region of
  riots or guerrilla activity, and  no revolution or war—
  even a "conventional one"—takes place in these  re-
  gions. The enormous quantities of extremely dangerous
  material must not get into the hands of ignorant people
  or desperados. No acts of God can be permitted [20].
  Weinberg similarly stresses the need ". . . of creat-
ing a continuing tradition of meticulous attention to
detail" and suggests that "what is required is a cadre
that, from now on, can be counted upon to under-
stand nuclear  technology,  to control it, to prevent
accidents, to prevent diversion"  [19].
  The public and its decisionmakers  must seriously
question whether it will be possible to attract, train
and motivate the personnel required for these func-
tions. These must be  highly  qualified persons who
will maintain a tradition of "meticulous attention to
detail" even when the glamorous aspects of a new
technology become the commonplace operations of
an established industry. We suggest that it is beyond
human capabilities to develop a cadre of sufficient
size and expertise that can be counted  upon to under-
stand nuclear  technology, to control  it, and to pre-
vent accidents  and diversion over many generations.
  There is considerable evidence at the present time
to suggest that the fledgling  nuclear  industry is al-
ready unmanageable. Consider, for example, that a
previously secret AEC study released by Ralph
Nader concluded that:
   The large number of reactor incidents  [850 abnormal
   occurrences],  coupled with the  fact that many of them
   had  real safety significance, were generic in nature,
   and were not  identified during the normal design, fab-
   rication, erection, and  preopefational testing phases,
   raises a serious question regarding the current review
   and inspection practices both on the part of the nuclear
   industry and  the  AEC  [21].
  In addition,  consider the tritium that recently ap-
peared in the drinking water of Broomfield, Colorado.
Consider the 115,000 gallons of  high-level  radioac-
tive  wastes that leaked from the tank at Hanford,
Washington, over a period of 51 days while no one
monitored the tank. Consider that  the radioactive
releases  from  the famed  Shippingport reactor in
Pennsylvania   were higher  than  recorded.  Consider
that the executives of Consumers Power Corporation
in Michigan failed  to notify the AEC that their
radioactive gas holdup system was  not functioning.
Consider that two reactors in Virginia were half com-
pleted before the AEC was informed  that they were
being constructed over an earthquake  fault.  Con-
sider that the GAO  found  security  at plutonium
storage areas  totally inadequate  after the AEC in-
spectors  had certified the facilities.
  Considering  all this, there  is good  reason to sug-
gest, because  of  the meticulous attention to detail
that will be required at every stage of plutonium re-
cycle,  that  a   decision to  proceed  with plutonium
recycle will precipitate an already unmanageable sit-
uation into a national crisis.
  Given that  the  risks of plutonium recycle are un-
acceptably high, particularly in light of the present
                                                                                                          191
   Plutonium in cake form. This batch was produced
   at the AEC's  Savannah River Plant near Aiken,
   S.C.

uncertainties, a key question is what are our options?
What are the alternatives to the AEC's proposal to
proceed now with plutonium recycle? We believe that
there are essentially  three options, each of which is
preferable to the AEC's announced plan.

Alternatives to Plutonium Recycle

   •  We could  phase out  nuclear power reactors.
There is mounting apprehension  among knowledge-
able persons concerning the human and societal haz-
ards of fission reactors which would only be com-
pounded by plutonium  recycle.  The 23rd Pugwash
Conference  on Science and World Affairs in Septem-
ber,  1963, concluded:
     1. Owing to potentially grave and as yet unresolved
   problems related  to  waste management, diversion of
   fissionable material,  and major radioactivity releases
   arising from accidents, natural disasters, sabotage, or
   acts of war,  the wisdom of a commitment to nuclear
   fission as a principal  energy source for mankind must
   be seriously questioned at the present time.
     2. Accordingly, research and development on  alter-
   native energy sources—particularly solar, geothermal
   and fusion energy, and cleaner technologies for fossil
   fuels—should be greatly accelerated
     3 Broadly based studies aimed at the assessment of
   the relation  between genuine and  sustainable energy
   needs, as opposed to  projected demands, are required.

This third recommendation implies the implementa-
tion of energy conservation measures. It is important
to recognize that energy conservation can be our ma-
jor energy source between  now  and the year  2000.
Conservation means  using our present energy more
efficiently; it need not mean a change in life styles.
Coupled with the use of solar and geothermal energy,
energy conservation could eliminate the need for new
nuclear power stations.
   •  We could continue with the present  generation
of light water reactors but strictly prohibit plutonium
recycle  for  the  foreseeable future. Such  a decision
would be premised upon a judgment that plutonium

   November 1974  Bulletin of the  Atomic Scientists   21

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192
       is too dangerous because of its toxicity and explosive
       potential to be allowed to become an article of com-
       merce. Of course, we would  still have plutonium to
       cope with because it is produced in present-day reac-
       tors. But without plutonium recycle there should be
       little incentive to reprocess the plutonium out of the
       spent  fuel, so the  plutonium could  remain in  the
       spent fuel where it is effectively protected from theft
       and, hopefully, confined and contained.
         The benefits of plutonium recycle are small. Pluto-
       nium recycle would reduce the annual uranium re-
       quirements by about 10 to 15 percent and reduce the
       light water reactor fuel cycle cost by about the same
       amount. But the nuclear  fuel cycle cost represents
       less than 20 percent of the total cost of power from
       nuclear plants, and nuclear plants by 1985  will rep-
       resent less than 40 percent of the electric, or about
       15  percent of the total, domestic energy supplied. In
       other words, plutonium recycle involves an economic
       savings of less than one-half of one percent.
         Plutonium differs from the high-level wastes in the
       spent fuel in one critical respect:  whereas the radio-
       activity of high-level wastes will  continue for thou-
       sands  of years, that of plutonium will continue for
       hundreds  of thousands. Thus, while the problem of
effectively storing both these materials and prevent-
ing their entering the environment are unprecedent-
ed in human history, plutonium must be contained
for eons longer. For this reason, an argument can be
made that, ultimately, the safest thing that can be
done with plutonium is to burn or fission it in reac-
tors, thus making it into  high-level wastes rather
than plutonium. But that is an activity that is best
left for decades or even centuries hence—for a society
more capable and  less violent than today's.
   • We could defer for several years the decision re-
garding plutonium recycle until present uncertainties
regarding safeguards and plutoniunv toxicity are sat-
isfactorily resolved and a basis has been laid for a
more intelligent judgment regarding the  risks  and
benefits of the commercialization of plutonium. We
believe that  this option must command general sup-
port. Too many questions, both technical and social,
are unanswered today. And until these questions are
answered it would be a grave error, we believe, to rush
into the AEC's plutonium economy.
   Is the American public willing to accept the risks
of plutonium in exchange for the promised benefits?
The national debate which must occur on this basic
question has hardly begun.
                             NOTES

         1.  Glenn T.  Seaborg, "The Plutonium Economy of the
       Future,"  Release No. S-33-70  (Washington, D.C.:  Atomic
       Energy Commission, October 5, 1970).
         2.  Atomic Energy Commission, "Draft Generic Environ-
       mental Statement on the Use of Mixed Oxide Fuel," WASH-
       1327 (Washington, D.C.: The Commission, July 1974).
         3.  Donald P. Geesaman, "Plutonium and the Energy De-
       cision," in The Energy Crisis, ed. R.S. Lewis and B.I. Spinrad
       (Chicago, 111.: Bulletin of the Atomic Scientists, 1972), pp.
       58-59.
         4.  Mason Willrich and  Theodore B. Taylor,  Nuclear
       Theft: Risks and Safeguards (Cambridge, Mass.: Bellinger,
       1974).
         5.  The AEC's attempt to recycle plutonium into the Big
       Rock Point (Mich.)  reactor was stopped by a lawsuit. West
       Michigan Environmental Action Council v.  AEC  (W. D.
       Mich. Dkt. No. G-58-73).
         6.  Weekly Energy Report, "GE Fuel Recovery Plant 'In-
       operable,'" II (July  15, 1974), 1.
         7.  Atomic Energy Commission, "Nuclear Power Growth:
       1974-2000," WASH-1139 (Washington, D.C.: The Commis-
       sion, 1974), p. 34 (Case D projection). The year 2000 figure
       includes  plutonium produced  in  liquid  metal fast  breeder
       reactors.
         8.  Arthur Tamplin and Thomas Cochran, Radiation Stand-
       ards  of  Hot Particles  (Washington, D.C.:  Natural Re-
       sources Defense Council, Feb. 14,  1974). Copies of this report
       are available from NRDC (1710  N St., N.W., Washington,
       D.C. 20036) for $3 per copy.
         9.  Atomic Energy Commission, press release, August 14,
       1974
          10. W. C. Bartels and S. C. T. McDowell, quoted in Nu-
       clear News. 17  (Aug. 1974), 46.
         11. Clarence E. Larson, "Nuclear Materials Safeguards:
       A Joint  Industry-Government Mission," in  Proceedings of
       AEC Symposium on Safeguards Research and Development,
       Oct. 27-29,  1969, WASH  1147  (Washington, D.C.:  The
       Commission, 1969); and Deborah Shapley, "Plutonium: Re-
       actor  Proliferation  Threatens a Nuclear Black Market,"
       Science,  172:3979 (April 9, 1971), 143.
         12. See, for example, Bernard T. Feld, "The Menace of
       a Fission Power Economy," Bulletin, 30 (April 1974), 32-34;

       22
Lawrence  Scheinman,  "Safeguarding Nuclear  Materials,"
Bulletin, 30  (April 1974), 34-36; David T. Rose, "Nuclear
Electric Power," Science, 184:4134 (April 19, 1974), 351-359.
See also Robert L. Heilbroner, An Inquiry into the Human
Prospect (New York: W. W. Norton, 1974), pp. 40-43.
  13. See, for example, Atomic Energy Commission, "The
Threat of  Nuclear Theft and Sabotage" (Rosenbaum Re-
port), Congressional Record, April 30, 1974, p. S 6621; Gen-
eral Accounting Office, "Protecting Special Nuclear Mate-
rial in Transit:  Improvements Made and Existing Problems,"
B-164105 (Washington, D.C.: U.  S. Government Printing
Office, 1973).
  14. Dean E.  Abrahamson, "Energy: Nuclear Theft and
Nuclear Parks," Environment (July/August, 1974), 5.
  15. Taylor and Willrich believe that  "a system  of safe-
guards can be developed that will keep the risks of theft of
nuclear weapon materials from the nuclear power industry at
very low levels" [4, p.  171]. Yet they also emphasize that
"regardless of its effectiveness, a nuclear safeguards system
applicable to the nuclear power industry in this country can-
not provide complete assurance that unannounced fission ex-
plosions will not occur  in the United States in the  future."
They point out that "no future safeguards system that will be
practical can offer 100  percent assurance against theft" [4,
p. 123]. They never say what level of nuclear  theft, or what
size plutonium black market or how many unauthorized nu-
clear explosions nre in  fact acceptable to them.
  16. L. Douglas DeNike, "Radioactive  Malevolence,"  Bul-
letin, 30 (February 1974), 16. See also the story on the bomb
threats that have occurred at the Zion nuclear power plant in
northern Illinois reported in Environment, "Spectrum" (Oc-
tober 1974).
  17. Nuclear Industry, "Industry Inundated by Proposed
New Safeguards Rules" (February 1973), pp. 45-47.
  18.  R. S. Lewis and B. I. Spinrad, eds., The Energy Crisis,
(Chicago, 111.: Bulletin of the Atomic Scientists, 1972), p. 59.
   19. Alvin Weinberg, "Social  Institutions  and  Nuclear
Energy," Science, 177:4043  (July 7, 1972), 32-34.
  20. Hannes Alfven, "Energy and Environment," Bulletin,
29 (May 1972), 5.
  21. AEC Task Force Report, dated October, 1973, page 16,
released in testimony presented to the Joint Committee on
Atomic Energy by Ralph Nader and the Union of Concerned
Scientists, January 29,  1974.

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                             UNITf.'D srAi'CC,                            193
                    ATOMIC LNEHGY COMMISSION
                          VVA'-.HJNGTO'J, D C. Ji/j'.i


                                  August 29, 1974
N.  C.  Iloselcy,  Director,  Region  IT,

ALLEGATIONS  AGAINST KI'S,  ERWIN - MEETING  WITH. OGAW REPKF,GK;!TATIVES

Please note  the attached  infornntion, concerning  items  of  concern
expressed  by OCAU representatives at  a  meeting in  Headquarters  on
August 13.   We  believe  these inatters  to be  of priority concern.
PJease note  that the allegations include  two  allegations  of willful-
ness.   Note  also,  that  OCAW has  specifically  requested that an  order
be  issued  directing the licensee to perform whole  body counting of
workers ,

In  your investigation of  tfis matter,  please determine, specifically,
the correctness of each allegation.   In developing the specifics of
the allegations you should contact the  alleger - QCAW  represer. :atives
in  Erwin.

OCAU has requested to be  allowed to be  present at  the  management
interview  following this  investigation.  We will inform you of  the
position to  be  taken by you.

The brief  history of NFS  compiled by  the  OCAW attorney and the
"existing conditions at  the plant (if  as allcged)raise  rational
questions  about the effectiveness of  our  enforcement actions
against NFS, Erwin.  Please comment on  this.

I will appreciate from  you, your estimated  date  for submittal of
your report.

If  you desire to discuss  this, please contact; me.
                                                <. __ ^_
                                ^/Jonn  G.  Davis, Deputy  Director
                                    for Field  Operations
Enclosure:
Mote  to Files  dtd  8/29/7A

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194
                              UNITED SfATCS

                     ATOMIC ENERGY COMMISSION
                           WAS-.HINC.TO;,!, o.C. 20145


                                    August 29,  1974
  Koto  to Files

  NUCLEAR FUEL SERVICES,  ERWIN,  TENNESSEE,  LICENSE NO.  70-143  -
  MKETING WITH REPRESENTATIVES  0? THE OIL,  CHEMICAL,  AND ATOMIC
  WORKERS INTERNATIONAL UNION

  In response to a telephone call from Steven T-Jodka,  Legislative
  Assistant,  Citizenship  - Legislative Department, OCAWj  a nesting
  was held on August 13,  1974,  with representatives of  the OCA* 7 to
  discuss working conditions relative to radiation exposure at the
  NFS,  Erwin  facility.  Attendees at this meeting are shown on
  Enclosure 1.

  Wodka generally was the spokesman for the OCAW, although, there
  was active  - and,  at  tines, emotional - participation by many
  of the OCAW contingent.

  Wodlca opened his presentation by remarking:

  1. The OCA*7 was highly concerned with worker exposure at fuel
     cycle plants - both those unionized and those not unionized -
     and will devote effort to see that the .exposure.*:  are reduced.

  2. He had  reviewed the file  on NFS, Erwin, in the Public Document
     Room and had noted  tiany instance's of  worker overaxposuro.s
     reported over the years.

  3. His review of the file was incomplete since he had been
     unable  to locate  the basic license in the PDE. and, conse-
     quently, could not  accurately determine the requirements
     placed  on the licensee.

  4. The OCAU had,  over  the years, made several complaints on .
     activities at NFS,  Erwin  to the AEC and, although the AEC
     looked  into the complaints, OCAW was  not satisfied that
     working conditions  at NFS, Erwin had  improved.  Because of
     this, the OCA1-I concern was being elevated to OCAU International
     Headquarters level.

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                                                                                 195
         Kotc to Filac                                        A"CUUt 29>  197/'
         With regard to the specific situation at NFS, Erwin,  Wodha stated
         the OCA1,: had five areas of specific concern:

         1.  Ttie company has failed to reduce exposures to meet the "an  low
             ac; practicable" requirement expressed in the AEC  regulations.

         2.  The con.pa.ny has failed to pemit OCAW representatives to accompany
             AEC inspectors as required by 10 CFR 12.

         5.  The company has failed to notify workers of overexposures as
             required by AEC regulations.

         4.  Trie company has failed to provide adequate monitoring.

         5.  The company has failed to perform adequate biological monitoring,
             i.e., determination of uptake of radioactive materials by workers.

         The approximately two and'a half hour neeting cor-risted of providing
         details supporting the five areas of concern.  In the discussion,
         OCAW representatives specifically alleged that the licensee willfully
         failed to comply with requirements in two of these areas of concern:

         1.  Failure to permit worker representatives to accompany AEC inspectors.

         2.  Failure to notify individuals of exposures.

         In addition, the OCAW specifically requested, due to  continuing significant
         differences in bioassay and whole body counting results, that the AEC
         immediately order NFS, Erw:'u, to whole body count all workers for plutoniuzi,
         thorium,  ur'anius 235 and uraniun 233.

         The following is an account of the substance of the information and remarks
         presented by OCAW in support of the five areas of concern:

        '1.  Failure cf the coapany to meet ALAP.

          /  a.   Lunchrooms.  The company provides two lunchrooms.  Workers are
   .- f. I?   _y_      permitted to enter the lunchroom after washing hands and donning
 'J- y ijL'''''''      shoe covers over sheas worn in the production area.  The cloth.ing
  //'           worn in the production area is worn in the lunchroom.  A monitor
'              ,  is provided for use by the workers. (^ The sink provided  for washing
            ,lf,i '. hands also is used to wash parts from the %'emljpg machines/) Varknrr
                 Btatc that these parts have shown contamination.
                            V/0,v>. -

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196
     Note to Files                                       August 29,  1974
             One of the lunchrooms is immediately adjacent to a production
             area.  A taped closed door server as a wall.   The workers
             contend that radiation, i.e., radioactive Tp-iterial, enters
             the lunchroom as evidenced 1>y contamination on food dispensing
             machines.   The workers state that up to 40,000 dpn have heen
             mear.ured on a beverage vending machine.  In excess of 20,000
             dpra were measured inside the machine.~  Several vending machines
             were removed from service and replaced because of contamination.
             The current location of the machines was not known.

             The V7orkers state that the snaarable contamination limit is
             500 dpm on eating table services.  The only action required
             by the licensee is to decontaminate to below 500 dpra alpha.
             The opinion was expressed forcefully by Cochran, the health
             physics consultant, that he could not relate a 500 dpm limit,
             at a plant authorized to possess plutonium, with ALAP.

             The OCAW representatives strongly expressed the opinion that
             the location of the lunchroom in proximity to the work area
             contributed in exposures to individuals that violated ALAP.
             This is evideaceJ by contanin.ition. detected in the lunchroom.

             Exposures  of people.  Wodka stated that his review of the docket
             in the PDR showed, since 1969, there had been reported over-
             exposures  of 53 individuals.  In addition, whole body counting
             currently shows six individuals where the measurements indicate
             the uptakes are increasing although the licensee is supposed to
             have removed those workers frou radiation work.  Wodka stated,
             also, that the information on exposures in the PDR is very
             difficult to relate to specific exposures to individuals.  These
             repeated instances of exposures show, according to OCAW, failure
             to meat ALAP.

             Contamination.  The company, according to OCAW, has shifted from
             a practice of some years ago of removing contamination to'a
             practice of fixing - by paint - contamination.  Fixed contamina-
             tion on floor surfaces reading up to 500,000 dpm exist.  In
             addition,  shipments are made within containers showing 100,000
             dpm fixed contamination.

             Respiratory protection.  Rather than provide confinement,
             respirators are routinely worn on some jobs to prevent over-
             exposure.   OCAW alleged no program of control of the reapi-
             ratorr,.  There in no program fnr changes of filtering elements
             or monitoring of the respirators.  Trr.ining in the xir.e of
             respirators in not formalized.  The washing i:\nchine ur.ed for
             wasliing the rer.p Lratora shows ?.0,COO dp:.i on the inside.

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Note to Filer,                          •             August 29, 1974
    e.  Confinement.  OCAW alleges that there Is general work area
        contamination in excess of that which would result from good
        practice.  In general, the scrap recovery building has areas
        capable of confinf.ment - and it would be practicable to do
        so — which are not now confined.  In the plutoniuin line, bags
        leak.

    f.  Air effluents.  Previously, the company monitored for particles
        on the roof.  This no longer is done.  Process areas operate
        with open building doors and with fans drawing air from the
        process work areas (not process lines) directly outside without
        filtering.

        Stack sampling on the 302 and 303 buildings previously was
        performed daily, it new is performed weekly.  A recently
        installed stack for process line air discharge is not sampled.
        It is filtered.

2.  Failure to permit OCAW representative to accompany on AEG inspections.

    After 10 CFR 19 became effective, OCAW alleges that in 1973 and 1974,
    two AEG inspections vere conducted and Union representatives ware
    denied, by the company, the right to accompany ARC inspectors. OCAW
    alleges that the coir.pany was fully aware of the 10 CFR. 19 require-
    ments - although the local OCAW representatives were not - and
    willfully denied OCAW representatives accompaniment rights.  The
    OCAW is particularly disturbed regarding this since a local wildcat
    strike occurred which, included this issue.  OCAW states that it is
    the workers representative; has been so designated and recognized;
    and the company clearly understand." the long standing desire on
    the part of the workers to be represented on AEG inspections; and
    that the local president is this workers representative.

    OCAW requested that their representative be allowed to attend the
    management interview following the inspection as well as accompany
    during the performance of the inspection.

3.  Failure to notify workers of exposures.

    OCAW alleged that NFS, Erwin does not notify workers of exposures
    as required.  For example, Franklin Tifton was exposed on August 23,
    1973, and was only told the x^eek of August 4, 1974, of the exposure.
    The notification wan verbal.  The company states that in the cc.ne
    of Gerald Webb, his exposure records have, been lost.  There are
    cases where there have been no notification.  Where notificnticn
    does occur,  it nay lir: as long as ihr:>e to five Koathr; after Lhu
    exposure.  OCAW eontumlr; t:h:tt this failure to notify crmloyeor; o£
    exporjprc;- a:; a wfllfu.l act on the part of t:h:- 1 tronren.  OtlAW
    alleges that: th.i.'. failure to i-nLify appKc" to both notification
    of fxporuire:; in c-xceun of lii.iLt,:; nuJ routine cxposurrn.

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      198

Note to Filer,                                         August  23,  1974



A.  Failure to provide adequate monitoring.

    a.  At on a t:It.K'., the company used trained health physics  technician:
        to prov'do adc-nuc'to monitoring of work areas.  .lore recently,
        the company liar, moved into the practice of 'V.elf-monitoring".
        OCAW contends that this practice does not provide  adequately
        trained personnel to evaluate exposures."

    b.  OCAW contends that monitoring equipment is not adequately
        maintained.

    c.  Work station air samplers are not located as to accurately
        measure ,the exposure of workers.  Also, results of roon air
        samples are averaged.  Because of locations, this  averaging
        produces  results lower than the concentration level to which
        workers actually are exposed.

    d.  The volumes used for calculations of air concentrations are
        not correct.  Sample buildup severely changes the  air flow
        through the filtering medium.  Consequently, the reduced
        yoluna makes the concentration calculations; erroneous ,in a
        non-conservative riannar.

    e.  Air samples, in seme cases, are not changed for a  period up
        to 48 hours.  17i In permits excessive buildup on the. sampling
        medium and renders inaccurate the results.  Al_5;o,  samplers
        are permitted to run th.i entire weekend without changing of
        samples.   The long cycle of sampj.es would permit small time
        periods of high concentrations without detection.

    f.  With regard to surveys for removable contamination, there are
        no instructions on how this is to be done and no established
        frequency for surveys.

    g.  Previously, there had been routine surveys of workers by
        health physics technicians.  Those no longer are performed.

    b,.  When a criticality alarm sounds and evacuation occurs, there
        is no monitoring within tha work areas prior to reentry to
        assure that actual criticality did not occur.  On  at  least
        one occasion, workers have been ordered to reenter the plant
        with the  alarm sounding.  Difficulty had been experienced in
        resetting the alarm.  Under this circumstance, if  criticality
        had occurred, there would have, been no alarm associated with
        the criticality event.

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                                                                         199
No.,  to Files                                          Au^St  29>  197A
5.  Failure to provide adequate biological monitoring.

    a.  OCAW expressed concern 0:1  the  present method of urine sample
        collecilon - collected at  employee's home  and flr.st collection
        on second  day alter expo-: are.   'iho OCAW was concerned on  lack
        of discipline in  the method and about 10%  of those who have
IS/I/.'T/.'/J been selected for sampling do  not actually submit the samples.

    b.  CCAW was concerned that cases  exist where  urinalysis does not
        show uptakes while a whole body count of the :.U:me Individual
        'does shew  an uptake.  OCAW believes that the reliability  of
        the NFS, Erwin urinalysis  is doubtful.  This lack of confidence
        is reinforced by  the company practice of denying OCAW members
        asslgrt"tRant to perform, or  assist in performing, analyses.  OCAW
        contends that worker representatives should assist in the analysis
        or the samples should go to a  disinterested outside supplier.

    c.  OCAW is concerned, due to  the  differences  in results, in  the small
        number of  employees whole  body ccriuted.  Also, due to those.
        differences in results, OCAW requests the  AEC to order whoLc
        body counting for plutonlum, thorium, uraniuu 235 and uranium 233
        for all workers.

    d.  Nasal smears, which formerly were taken r©w-n-H*e*ky, no longer are
        taken.

Other specific matters, outside the five areas of  concern, discussed by
OCAW representatives are:

1.  NFS, Erwin apparently is aware of  each AEC inspection and devotes
    considerable effort to preparing for each inspection.  The AEC does
    not have the opportunity to inspect typical activities due to those
    preparation efforts.  P; c ri ? * >f

2.  Previously, during criticality alarm test evacuations, the employees
    evacuated through gates to areas distant from  the plant.  Now, they
    arc not permitted to  exit through  those emergency gates.  NFS, Erwir.
    attributes this change to new  AEG  security regulations,

3.  Employees use  "Oven—off", an oven  cleaner, as  a means of removing
    contai.iiuaL Lou  from their hands.  Tiie company supplit-s the "Oven-off"
    and has not objected  to its use.

4.  OCAW believes  there is a beryllium ha.:ard associated with, a portion
    of work at NFS, ErwJn.  OCAW is unsure of the  in!_orface between AEC
    and OS1LA on this matter.

-------
       200

Note to Files                                       August 29, 1974
The OCAW representatives do not desire  to have  their identifies
protected.  They have no objection to  these  comments and allega-
tions being specifically identified to  NFS,  Erwin as to source.

On August 27, this summary information  was discussed by telephone
with Mr. Wodka.  He confirmed the substance  expressed the OCAW
concerns.
                                 John G.  Davis
Enclosure:
As Stated

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                                                                             201
                                  Enclosure 1

                   Meet-Ing vJth CHI, Chemical and Atomic Markers
                               Internal:tonal Union
                            Attendees, August 33, 1274
Ato:nic Energy Comnu^sion
Directorate of Regulatory Operations
J. G. Davis, Deputy Director for
  Field Operations
G. C. Cower, Regional Coordinator
G. H-. Snita, Regional Coordinator
P. R. Guinrt, Radiation Specialist,
  Region II
G. P. Coryell, Fuel Facilities
  Inspector, Region II
Oil, Chemical and Atomic Workers
	International Union	

S. Uodka, OCAW - Legal Department
T. Mazzocchl, OCAV7 (Rep., Int'l Pres.)
E. D. SvTisher, Int'l V.P., OCAW-AFL-CIO
H. A. Adkinson, OCAU, Int'l. Rep.
T. Harris, OCAU, V.P. Local 3677, Erwin
J. Villiams, OCAU Representative
E. Gesrcer, OCAW
R. Lewis, NFS - Health Physics Technician
D. K'isters, NFS - Operator
L. Tolley, NFS, Operator
T. B. Cochran, OCAV7 - Health Physics
  Consultant

-------
             202           UNITED STATES                            Q
                     ATOMIC ENERGY COMMISSION
                   DIRECTORATE  OF  H2GULATORY  OPERATIONS
                            REGION II  - SUITE 8'B
                      230 PEACMTREE STREET. NORTHWEST             TuimOMl:  14041 »J«-4 3OJ
                           ATUANT A. GEORGIA 3O303

In Reply Refer To:              QCT 1 1  1974
RO:II:FJL                              i
70-143/74-01'
    Nuclear Fuel Services, Inc.
    ATTN:  Mr.  William Manser, Jr.
           Plant Manager
    Erwin, Tennessee  37650
    Gentlemen:

    This letter refers to the investigation conducted  at  your  facility
    regarding alleged excessive contanination and  unsafe  working  con-
    ditions.   Two of the items substantiated by  our  inspectors are  of
    more immediate concern to us.

    The two items which are in violation  of conditions of your license
    and which involve failure to meet  the "As Low  As Practical" criteria
    are:

    1.   Lunchroom Contamination:

        Lunchrooms continue to be  contaminated in  excess  of  limits
        established in Section 3.3.5 of the "Contamination Survey
        Program" procedures.

    2.   High  Enriched Scrap Recovery Building

        The high enriched scrap recovery  building  continues  to be
        contaminated in excess of  the  limits established  in  Section
        3.3.5 of the "Contamination. Survey Program"  procedures.

    Based on  a telephone conversation  between Mr.  Long and Mr. Coryell
    of  this office,  and Mr.  Manser on October 9,  1974, it is  our under-
    Standing  that immediate action is  being taken  to assure  that
    contamination levels in the two areas of immediate concern are
    reduced and maintained at levels compatible  with AEG  requirements.
    Specifically, we understand that in addition to  corrective actions
    already taken you will:

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                                                                     203
Nuclear Fuel Services, Inc.                                   OCT 1
1.  Institute rigorous enforcement of the self-monitoring procedure
    for personnel entering the lunchroom.

2.  Require that all personnel working in known or suspected con-
    tamination 'areas wear smocks over work clothes when in the
    lunchroom.

3.  Increase the frequency of surveys in the high enriched scrap
    recovery building to. assure prompt detection of contamination.

4.  Perform immediate cleanup of contaminated areas.

5.  Take high volume air samples during cleanup or when airborne
    contamination is suspected.

6.  Require use of masks as a precautionary measure during periods
    of known or suspected airborne contamination.

7.  Shutdown building operations if contamination levels remain
    above limits for prolonged periods.

8.  Revise operating procedures to require use of protective
    covering around contaminated equipment or product containers
    prior to uduua.j.ng in open areas.

9.  Expedite procurement of material and installation of planned
    engineering changes to improve containment and building
    ventilation.

If the above stated understandings are contrary to your actions
regarding the two items, we should be informed promptly in writing.
You may expect to hear further from us regarding the enforcement
aspects of this matter.  In addition, other matters identified to
you previously regarding the investigation findings will be
communicated to you by separate correspondence.

                                   Very truly yours,
                                   N. C. Moseley
                                   Director

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 x\^i".Q>>N    204                UNITED STATES
/f/V  v, r(i\               ATOMIC ENERGY COMMISSION
KC£Drj
\^-v/^
                                 REGION II  - SmTt 8I«
                                 rniRet STBEtT.No«rH
                                AT UANT A. GLOROIA 30303
  In Reply Refer To:
  RO:II:FJL                              OCT 1 8 t0
  70-143/74-01
        Nuclear Fuel Services, Inc.
        ATTN:  Mr. William Manser, Jr.
               Plant Manager
        Erwin, Tennessee   37650

        Gentlemen:

        This refers to the investigation conducted by Messrs.  G.  P.  Coryell,
        J. H. Kahle, and P. R. Guinn of this office on September  17-20  and
        September 24-26, 1974, of activities authorized by AEC License  No.
        SNM-124, for the NFS, Erwin facility, and to the discussion  of  our
        findings held by Messrs. Long,  Coryell,  Kahle and Guinn with
        Messrs. Manser, Idecker and Michel subsequent to the  investigation on
        October 7, 1974.

        Areas examined daring tha investigation  included allcg-ticns of
        excessive radioactive contamination and  unsafe working conditions.
        Within these areas, the investigation consisted of selective
        examination of procedures and representative records,  interviews
        with personnel, and observations by the  inspectors.

        During the investigation, it was found that certain activities  under
        your license appear to be in violation of AEC requirements.   The
        violations and references to pertinent requirements are listed  in
        Enclosure 1 of this letter.

        This notice is sent to you pursuant to the provisions  of  Section  2.201
        of the AEC's "Rules of Practice", Part 2, Title 10, Code  of  Federal
        ^Regulations.  Section 2.201 requires you to submit to  this office,
        within 20 days of your receipt  of this notice, a written  statement
        or explanation in reply including:  (1)  corrective steps  which  have
        been taken by you and the results achieved; (2) corrective steps
        %which will be taken to avoid further violations; and  (3)  the date
        when full compliance will be achieved.

        One item which remained unresolved at the conclusion  of the  investigation
        has been referred to Regulatory Operations Headquarters for  further
        evaluation.  The iten is discussed in Enclosure 2 to  this letter.  We
        will inform you of the results  of this evaluation when available.

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Nuclear Fuel Services, Inc.                          OCT 1 8
If you have any question concerning this letter, we will be glad to
discuss them with you.

                                    Very truly yours,
                                                     //'
                                    N« C. Moseley
                                    Director
Enclosures:
  as stated

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206
                                Enclosure  (1)

  RO Investigation  Report  No.  70-143/74-01                  QCT 1 8 1974
                           NOTICE  OF VIOLATIONS
  Certain activities  under  your  license  appear  to be  in noncompliance
  with  AEC and  license  requirements  as indicated below,

  The following violations  are considered  to be of  Severity Category II:

  1.  10  CFR 20.201(b)  requires  licensees  to conduct  such surveys  as
     •necessary to  comply with the Regulations.  NTS  has chosen  to
     employ urinalysis as  a means of  compliance with this requirement.

     Contrary  to the above, the evaluation of  urinalysis results  was
     not adequate  to determine  compliance with 10  CFR 20.103.

  2.  License Condition No. 8 incorporating the license application
     dated June 3, 1963, Section 3.3.5  of procedures entitled
     "Contamination  Survey Program,"  states in part, "....that  smear-
     able contamination' less than 500 d/m is considered acceptable in
     certain areas."

     Contrary  to the above, lunch room  contamination surveys during the
     period July through September  1974,  including surveys made in the
     presence  of the AEC inspector, revealed contamination levels which
     exceeded  the  specified limit.  Levels up  to 4000 d/m were  detected.

  3.  License condition No. 8 incorporating the license application
     dated June 3, 1963, Section 3.3.5  of procedures entitled
     "Contamination  Survey Program" states in  part,  that "....in
     plant processing  areas, smearable  contamination to 5000 d/m  is
     considered acceptable."

     Contrary  to the above, contamination in the Building 233 pro-
     cessing area  has  exceeded  the  specified limit on a continuing
     basis during  the  period July through September  1974.  Levels
     up  to 30,000  d/m  were detected.

  4  License Condition No. 8 incorporating license application  dated
     June 3, 1963, Section 3.3.2, "Respiratory Protection," requires
     in  part,  that "....employees wash  their respirators at the end
     of  each shift and that filters on  the respirators be changed
     once each week  or more frequently  as determined by the Health
     and Safety Department."

     Contrary  to the above, there was no  evidence  that respirators
     were cleaned  daily and that respirator filters  were changed
     once each week, prior to initiation  of a  revised mask and
     respirator protection program*in August 1974.

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Nuclear Fuel Services, Inc.
Enclosure (1)
                                                                       207
5.  License Condition No.  8 incorporating license  application dated
    June 3, 1963, Section  3.0,  "Health and Safety," paragraph 3.5,
    "Basic Health and Safety Rules  and Regulations,"  item 15, states
    "Bioassay samples must be submitted by all  laboratory, operating
    and maintenance personnel on designated dates."

    Contrary to the above, bioassay samples were not  submitted by 68
    persons including laboratory, operating and maintenance personnel,
    Delinquent periods ranged from  three months to two years.

-------
208
                              Enclosure (2)
RO Investigation Report No. 70-143/74-01
          ITEMS REFERRED TO REGULATORY OPERATIONS  HEADQUARTERS

                         FOR FURTHER EVALUATION



Air Sampling

Investigation findings confirm the allegation that air samples  run

the entire weekend without changing of samples, versus the normal

workweek practice of changes each 24 hours.   This  weekend schedule

has been in effect since initial plant startup.  Investigation

findings relating to the corollary allegation that the long (72 hour)

cycle of samples would permit small time periods of high concentrations

without detection is being referred to Regulatory Operations for further

evaluation.

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                                                                         209
     Dr. Mills:  Thank you, Dr. Cochran, Mr. Speth.




     The point that Mr. Speth made has to do with revising plutonium




standards.  Is it your concern that the safeguards program or a failure




in non-compliance exists as they are today, that any release of the




plutonium because of non-compliance or breakdown of the safeguards pro-




gram should be such that there should be no public health — risks to




public health, I guess, is the word I speak of.




     Is that the focus of the discussion on the non-compliance, the




failure of compliance?




     I am trying to tie in, in terms of establishing standards, the




safeguards program and the incidents that you talked about of failure




to comply that the AEC found out.




     Is what you are proposing to address in terms of the standard




itself such that those releases would not be of public health risk?




     Mr. Speth:  We are not sure we understand the question.  But one




thing you may be asking is why we did discuss the safeguards problem




in this particular format.




     I think the answer is that we do not feel you can make an




artificial separation between those issues.  When we consider plutonium,




we have got to consider the whole fuel cycle and its implication.




     Obviously, there are certain jurisdictional things that EPA cannot




do, but it is also true, you have got to make a basic societal judg-




ment about the desirability of moving into what the AEC has called




the plutonium economy, large scale reliance on plutonium as a fuel.




     When we make that judgment,  we would better know all the facts

-------
210
  and be aware of both sides,  all  of  the  problems  that  are  associated,




  not just the plutonium toxicity  problem.




       Dr. Mills:  My point  was, in the establishment of  an environmental




  ban,  the standard,  I do not  see  how it  could  insure against  failures




  of non-compliance.




       Dr. Cochran:   One standard  you might  consider is to  not use  this




  material.




       Returning to the question of safeguards,  there has been some




  discussion earlier  and one of the points  in the  Federal Register  is




  with respect to the costs  versus benefits  of  use of this  material.  You




  cannot just weigh the benefits against  part of the cost and  eliminate




  the safeguards aspect.  There was even  some suggestion  here  earlier




  this morning that we should  weigh the cost against the  cost, that is,




  the effects of releases of plutonium weighed  against  the  effects  of




  natural background  radiation.




       The point we would make with respect  to  the safeguards  is  that




  it is one of the principal,  if not  the  principal, cost  items in this




  weighing.   These two issues, the safeguards and  the toxicity are  of




  principal concern to us.   When we look  at  these  and the benefits  we




  do not see why there would be any commercial  plutonium  recycled at this




  time.  On the benefit side,  we made the statement here  earlier  in




  Mr. Speth's presentation that plutonium recycle  reduces light water




  costs by 10 or 15 percent.  That is really the AEC statement, not




  ours.  I would submit that the cost of  reprocessing and fabricating




  mixed oxide fuels has gone up so drastically  in  recent  years, there  is

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                                                                          211
a very good chance that there is no economic incentive, forgetting




about safeguards for plutonium recycling at this time.




     Some of your evidence for this is in the materials presented in




our comments on GESMO, the material presented by the intervenors in




the licensing proceedings going on at NFS, West Valley, and also in a




recent G.E. report on nuclear energy parks.




     Dr. Mills:  Do you agree, then, that in establishing a standard




we have to look at the benefit of the activity as well as the health




impact?  Can I interpret that correctly?




     Dr. Tamplin:  Yes.  I think that is true.  Also, that we addressed




our comments here to most of the items that were listed in the Federal




Register that these hearings were about, which was not strictly standards.




     The first one was general, to include consideration of general con-




cern, including the public and social implications of plutonium utili-




zation and the factors involved, balancing benefits and costs.




     The recommendation of this panel, the social implications of




plutonium are such that it should not be an item of commerce.




     I think that is a possible conclusion you could come to.




     The fourth item here was applications using plutonium to include




consideration of current and projected uses of plutonium and other




transuranic elements.




     The estimated quantities in each application and the magnitude of




the possible releases to the environment:  From the industry, you are




going to hear a very rosy picture of the releases in the environment.




     1 think these non-compliance situations should cause you to regard




this rosy picture with some skepticism.

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212






      Dr. Mills:  Fine.  Thank you.




      Dr. Taylor?




      Dr. Taylor:  Well, his last statement has made me change the




 remark I was going to make.  I thought it was pointed out this morning




 that our discussions on radiation protection standards really involved




 two parts, you might say:  the technical part on the one hand, and the




 social, political and economic on the other.




      We are sitting here; most of us at this table, if not all of us,




 are all technical people.  We are certainly not politicians in the




 ordinary sense.  I do not think any of us at this table are qualified




 to comment on any of the social or political implications that have




 been presented in this very interesting discussion.




      Dr. Tamplin:  You are certainly as qualified as any other human




 being.




      Dr. Taylor:  That is not the purpose of this particular conference




 in my judgment.  I am quite willing to talk about these things, but not




 here.




      Dr. Cochran:  As we read the Federal Register this is the purpose.




 You may have been deceived when you were invited.




      Dr. Mills:  Dr. First?




      Dr. First:  I am not sure I understand your position here,




 gentlemen.  On the one hand, you are talking about a lower standard




 than presently exists, a liability of magnitude.




      On the other hand, you are saying let us do away with plutonium




 completely as well as all other radionuclides, if I understand your




 position.

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                                                                         213
     Is this not incompatible?




     Dr. Cochran:  I do not think it is incompatible.  You say our




position is let us do away with plutonium.  Our position at this time




is you should not be recycling this material.  You should not be




removing it from the fuel rods.




     The reason I do not think it is incompatible, ~L think given the




present evidence as we see it, the occupational exposure standards and




the levels at which people are currently being exposed are levels which




we believe carry with them a high probability that these people would




get lung cancer; so regardless of whether you want to do away with plu-




tonium recycle, you should not have a standard that unnecessarily exposes




the workers.  A judgment on plutonium recycle involves weighing of costs




and benefits.  The standards issue involves consideration of the fact




that when you weight cost and benefit,  there is no equity arrange-




ment, whereby the people that pay the costs are the same people that




get the benefits.  The workers are receiving the costs, and people who




use the electricity are the receivers on the benefits side.




     Dr. Tamplin:  I might add one other thing.  That is there is an




existing plutonium industry today.  There are, say, people in the




military program exposed to it.  So standards are something that have




to be resolved whether or not plutonium is recycled.




     But you have to recognize there is another industry besides the




nuclear industry that would be involved in standards.  One of them is




the industry that makes such things as  pacemakers, using plutonium 238.




The other industry is fire detector equipment, where  they use americium.

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214
       So  the  plutonium  standard  itself can be considered separtely  from




  the whole  question  of  the nuclear power industry.




       Dr. First:   I  think that clarifies it.  The point you made just




  now was  perfectly all  right, while I am sorry that you did not want to




  reprocess  spent  fuel rods.




       Dose  that signify that you are satisfied with the present nuclear




  operations if you do not reprocess spent fuel rods, or is there still




  another  issue in your  minds?




       Mr. Speth:   We obviously have a problem that is a major controversy




  in the country today,  for the general safety of the nuclear power




  industry we  have now.




       Dr. First:   Even  I am aware of that.




       Mr. Speth:   I  think what we are saying here, at a minimum, is let




  us not escalate  that problem by going ahead with plutonium recycle.




       Let us  not  escalate by going ahead with the breeder reactor.  We




  feel  that  the introduction of those new technologies will represent a




  substantial  escalation in the problem we already have, the problem that




  the new  field is already out of control and serious.




       So  basically,  that is what we are saying here in connection with




  plutonium.   Let  us  not go ahead with the plutonium economy.  It is




  just  going to be too risky and  too dangerous.  It does not really




  address  the  question of whether what we already have is already too




  risky and  too dangerous.




       If  you  want me to address  that, I can tell you what I think, but




  it is really not germane.

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                                                                         215
     Dr. First:  Well, if it is not, then I certainly would be happy




to pass it over.




     I think I have gotten a pretty good idea of what you are not for.




In the context of the present hearing, could you tell us what you are




for?  What do you advocate as a positive approach, other than just




doing away with things?




     Mr. Speth:  I am not quite sure what you are saying.  It is our




feeling that assuming the light-water reactors will operate, that we




should explore what is the safest thing to do with this fuel.




     Given that we do not favor recycling it or making the plutoniuro




industry, or giving birth to a plutonium industry, what is the safest




thing to do?




     That may be what we suggested that some people should consider




simply leaving it in the fuel'rods.




     Dr. First:  Indefinitely?




     Mr. Speth:  Yes.  At some point, a generation hence, you may want




to fission that plutonium, but certainly not under current circumstances,




in the world that we have today, with the problems that we have.




     I am not sure that is positive enough.




     Dr. First:  I think that gets at what I was after.




     I wanted to know what you stood for, as well as against.




     One other point I would like to ask before I give up on this.




That is, the information that we got this morning from a number of




vistors regarding toxicity of the plutonium seems to be somewhat at

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216
odds with  the information that you presented here, in fact quite




considerably.




     In  these presentations there was a good deal of reference to the




publications and studies.  I was wondering if you have documented the




biological basis for your recommendation of a plutonium standard.




     Did you say 100,000 times, or 1/100,000 of. what the present




total is, or is this something which you are planning to do tomorrow?




     If  it is tomorrow, I will pass the question.




     Dr. Tamplin:  We have a report that we have issued, and also, we




have made responses to some AEG reports, a draft on the LMFBR, and draft




on plutonium recycle.  We have also commented on one of the more recent




reports  that came out of AEG on WASH 1320.




     If  this material is not already available to you, we would




certainly make that available tomorrow.




     Dr. First:  Is this in the handout which I have just gotten?




     Dr. Tamplin:  Some of it is, but anyway, that will be available




tomorrow.




     Dr. First:  I will pass that question, then.




     Dr. Tamplin:  The Environmental Protection Agency did not supply




us with  this material, since it was supplied along with our petition tc




the Agency.  I guess that is the major reason why we did not bring




copies of our report.




     Dr. First:  I just want to be sure that it will come up at some




point in these hearings, but if it is planned, I will pass it.

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                                                                         217
     Dr. Cochran:  I might add, we assumed that the panel members would




have been familiar with most of that material already.




     We submitted that material, our first report, to the EPA on




February 14.  They have had 10 months to call us and invite us in,




if they wanted information on it.  We are a little bit puzzled that




they wait 10 months and want us to sit down with them in this short




time and go over that material.




     What we intended to do was to be prepared to answer questions




on that material.  If you want a presentation on that, 1 think we




could do that tomorrow.




     Dr. First:  I think I have made my point clear.




     Dr. Mills:  Dr. Radford?




     Dr. Radford:  First, I have had the material that has just been




referred to, so at least one member of the panel has seen it, including




WASH 1320, so I am prepared to ask questions as to specific sections of




that.




     With regard to the presentation we  have just heard, I would like




a little further clarification.  I am not quite clear myself.




     Is it my understanding that your position is that breeder techno-




logy which is pretty dependent on plutonium isolation as I understand




it, thereby, in your opinion, should not be embarked upon?




     Is that one conclusion of your statement?




     Dr. Cochran:  I think our position with respect to the breeder




program is that it cannot be justified at this time from an economic




cost-benefit standpoint, that it certainly exacerbates the hazards in




plutonium toxicity.

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218
      Our position would be we would advocate that  you would cancel




 the commercial introduction of this facility.   We  would not propose




 at any time that you should just have wholesale elimination of the




 program.




      Ultimately, if you continue to rely on fission as the energy




 option,  eventually you would need a breeder of  some sort.   So we have




 not suggested that you cancel the R & D aspect  of  the program.




      I think our position as we present it in our  450-some odd pages




 to the AEG, commenting on the impact statement  of  the breeder, it is a




 misallocation of R & D financing, that you should  cut that program back




 and put  that money where it would do more good,  in other energy techno-




 logies.




      Dr. Radford:   Before getting to that issue, we heard testimony




 this morning from General Electric, and I do not believe it differs




 greatly from what we heard from the AEG later,  that the availability of




 low cost uranium fuel is such that by the year  2000,  maybe 2010 or 2020,




 depending on your estimates, we will be in a similar position to where




 we are with oil and the inadequate domestic resources.




      The estimates for a viable breeder based fuel breeder program




 providing adequate electricity to supplement the light-water reactors




 must get underway now if we are to have it adequately tested by the




 time it  must go on line, somewhere around 2000,  or 2010 or 2020.




      Now, you are in effect saying to defer a further development of




 the breeder program and would seem to me to say, we should also defer




 any further development of the light-water reactors.

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                                                                         219
     Dr. Cochran:  The arguments are different.  You can make a case





against the LMFBR, assuming you have a viable light-water reactor.  I




would separate those arguments from the arguments against having any




sort of fission economy.




     With respect to the first, the argument of why there is no economic




incentive with respect to the breeder, I documented my case in a book.




Subsequently NRDC, primarily the three of us here, have updated that




work in NRDC's comments on the draft LMFBR Environmental Impact




Statement.  These comments contain analysis that takes issue with the




AEC's and General ElectricTs position with regard to uranium availability




and a number of other assumptions.




     The uranium availability is only one of several keys, Dr. Wolfe




was referring to earlier.  It is an unpublished study that has been




bounced around in OMB and NFS and elsewhere.  It, too, has what I




believe are some erroneous or unjustifiable assumptions about the input




data.  There is enough flexibility so that by shifting your assumptions




with respect to the price of the reactor plants, the uranium availability,




and energy demand, you can generate senarios where it appears that a




breeder will be needed.  We take strong exception to many of these




assumptions.




     Dr. Tamplin:  EPA, in their comments on the fast breeder, also




were quite critical of the economic analysis.   When I say also, one of




the questions relative to when plutonium should be used,  one of the




arguments for the fast breeder was it had to be a crash priority pro-




gram.  They wanted it by 1985.

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220
     This is one of the aspects of the economic analysis that causes




it to fall apart, that the breeder would not be economical in 1985.




They say the year 2000 or something, so one of the things that we are




proposing is let us not move into this plutonium economy with all kinds




of unresolved problems.




     Let us stretch the breeder program out.  Let us take the R & D




funding and put it elsewhere.  Then we can resolve some of these un-




resolved issues relative to plutonium in the interim period.




     Dr. Radford:  Would not you say that one of the unresolved issues




about the plutonium technology or the breeder technology is whether the




large breeders will work?




     Is not that a fairly important issue to get settled at as early




a date as we can?




     Dr. Cochran:  It depends on how you define "work."  There are some




areas of research and development that we would suggest could be




continued and should be continued, because they are rather benign.




     When you are talking about putting a 350 megawatt commercial




facility in one of the areas of the country that has the worst meteoro-




logical conditions, when you do not know the upper bound on the explosive




potential of that reactor, when the plutonium standards are in question,




and when you do not have adequate safeguards programs in hand, that is




not a good course of action.




     So that is why I say let us cut out the commercial component of




the breeder program.  Then we can talk about what sort of R & D we should




continue to prove out some of these unresolved issues.

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                                                                          221
     Dr. Radford:  I was not aware that this was really in the commer-




cial stage, even though I recognize that some of the utilties are




contributing to it.  I do not think it was designed for commercial pro-




duction of power.




     Let us get off that subject, if I may, and get to the question




which you raised on the issue of economics.




     In relation to the competitive value of different fields, do you




think that pure economic concerns should dominate whether we go this




way, that way, or the other way?




     We heard, for example, today some projections by Dr. Wolfe about




how much it is going to cost to generate electric power by solar energy.




Do you think that type of economic analysis, correct or not, ought to




be the basis of whether we develop solar power?




     Dr. Cochran:  I am not an economist, but I would prefer that you




be a little more specific on what you mean by economic assessment,




because there are many economists who would include all the social costs




and so forth in their economic assessment in the weighing of the costs




and benefits.




     I certainly think that economic analyses of the type you are




referring to should be one input in the decision making process, but it




should not necessarily be the primary one.  Clearly, it should not in




the case of breeder reactors or plutonium recycling.




     The health and safety issues, in my view, are the primary issues




because the risk in these areas is so great.




     Dr. Radford:  So questions of cost of the safeguards levels that

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222
 you might consider acceptable,  you would not  consider that  necessarily




 binding?




      Dr. Cochran:   I do not understand your point.




      Dr. Radford:   Let us assume you could build a  facility handling




 Plutonium where you could absolutely contain  it  completely  at  sufficient




 cost.




      Let us make the assumption,  anyway, that the containment  is




 partially a function of cost.   The issue of how  much that costs  would




 not be an important issue as far as whether to go with plutonium recycle




 or not?




      Dr. Tamplin:   I think you  are getting sort  of  at the issue  there.




 One of the reasons why we brought up the social  and political  impli-




 cations of the safeguards program is that safeguards programs  have to




 exist here in the  United States before being  applied.  The  social con-




 sequences of a breakdown in the safeguards program  are such that




 certainly, if you  were going to have plutonium,  whatever it costs in




 terms of dollars to make a safeguards system  safer  would certainly be




 justified because  the social implications of  a breakdown, in plutonium




 diversion and nuclear blackmail,  are such that the  dollar cost would




 bear no relationship to the social costs.




      Dr. Radford:   I am sure that some R & D  could  be developed, for




 example, to poison the plutonium fuel so that it could not  be  readily




 handled by somebody — I just toss that out for  a comment.




      That is an area of R & D that could be developed.

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                                                                          223
     You mentioned fines at the General Electric and Nuclear Fuel




Services, West Valley plant.  Were those fines for the breach of




plutonium containment?




     Dr. Cochran:  No.  They were safeguards violations.




     Dr. Radford:  Safeguards regarding unauthorized entrance?




     Dr. Cochran:  According to the report the safeguards violations




involved "failure to have required intrusion monitoring, alarm systems




and physical barriers to protect against industrial sabotage."




     That is a quote from the AEG news release.




     Dr. Radford:  So that really had nothing to do with whether




fission products, plutonium or other transuranics were distributed




within a plant?




     Dr. Cochran:  That is correct.




     Dr. Radford:  Finally, with regard to the standards, most of the




concern that you have expressed with regard to the number of these




episodes deal with occupational exposure.  Is that correct?




     Dr. Cochran:  That is correct.




     Dr. Radford:  Unfortunately, it is my understanding that the EPA




has no jurisdiction over occupational exposure, so I ask the question,




do you believe that plutonium, having the nature in itself, being what




it is, is quite likely to be carried outside the plant if there are




significant occupational exposures?




     Are there ways to deal with this?




     Dr. Cochran:  I believe there is already evidence of its being




carried outside the plant.  Rocky Flats is the most alarming example




in that regard.

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224
      I think the EPA ought to be privy to how the industry reacts to




 regulations.  Their regulations will, in fact, affect the indstry and




 their effluent releases.  We have presented examples of what is going




 on in the industry.  The present situation indicates they are not




 following the regulations.




      Some of the things that I have seen and heard from workers would




 suggest to me that some of these facilities are lacking in the rudi-




 ments of accepted health physics practices.




      I think it would be fair for EPA to infer that if they impose




 stricter environmental releases standards, they should not expect any




 better performance by the industry than we are getting presently with




 respect to the worker standards.




      Dr. Mills:  One point of clarification on this.  EPA has no




 regulatory authority as far as occupational is concerned.




      Dr. Radford:  A final question about the standards:  If your




 standards are adopted, how would you propose that it be enforced?




      Dr. Tamplin:  Rigorously.




      Dr. Radford:  Would you have instruments available that could




 detect the concentrations that might occur?




      Dr. Tamplin:  You mean, is it possible today to go out and measure




 one particle per meter square of a surface?  I think that is very




 difficult at this point, at this particular time.




      The fact may be that by the time you are able to detect plutonium




 in the environment, you are already at too hazardous a situation.

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                                                                          225
     That is a question which, in a way, this panel is addressing




relative to the standard.  If you can detect plutonium, are you already




beyond the point in the environment where it is acceptable?




     Dr. Mills:  Dr. Garner?




     Dr. Garner:  Let us start with the trivial.




     There is one statement in Dr. Cochran's presentation which I found




extremely irritating.  It is the sort of statement I always find




irritating.




     After referring to something from Rocky Flats, you talk about




plutonium being found among cattle.  Then you go on to say the impli-




cation of this for humans in the area is obvious.




     It is not obvious to me at all.  Cattle poke around in the grass




and inhale a lot of material.  People do not poke around in the grass




and inhale this material.  So to me, this is not as obvious as it is




to you.




     Could you expand on that?




     Dr. Cochran:  I do not know that it really requires a great deal




of expansion.  We do not know precisely how plutonium particles got




into the lungs of the cows.




     Certainly, it indicates that the plutonium in the area is




available.   How the lungs of humans in the area compares with the lungs




of cows in the area is another thing, but we do know that Dr. Ed Martel




has measured plutonium in the environment of Rocky Flats and he has




found plutonium particles in the air in the area.  So the implications




are obvious, I think, but quantitatively they may not be so obvious.

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 226
Certainly, it indicates there is environmental contamination of plutonium




in the area.  The implications are that this may be at levels that are




not adequate from the standpoint of public health.




     Mr. Speth:  One other comment on that.




     I do not know about yours, but my kids poke around in the grass




a lot.  I am not sure you were serious.  Were you?




     Dr. Garner:  It is the kind of statement that  leaves things hang-




ing in the air.  I hate to see a statement where the implication is not




obvious.




     Mr. Speth:  The report, as I understand it, is just a one page




abstract of it, but it is circulating around.




     Dr. Garner:  As I told you, it was a trivial matter.  I did not




want to make a great deal of it.




     Since a lot of questions have been asked, I will confine myself to




just one thing, the violations.




     You painted a terrible picture of violations in an embryo plutonium




industry, but I think we ought to get our feet back on the ground again.




     This is not unique to the plutonium industry.   I think if you




would like to go and look at a great many other industries, you will




find equally horrifying violations.




     Dr. Cochran:  NRDC works in those areas also.




     Dr. Garner:  With plutonium, we are talking about something which




may produce health effects.  In other industries, such effects are




certain.




     Mr. Speth:  We have been trying for some time  to get EPA to do

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                                                                         227
something about carcinogens in the environment, with absolutely no




success, so you are in a better position to try to do something about




that than we are.




     Dr. Garner:  I am just a simple research person.




     I think you have confirmed what I think you are saying, that is,




that industry as a whole should look into safety precautions.




Industry as a whole, not just the plutonium industry, but industry as




a whole.




     I would just like to end by saying one can interpret things in




different ways.  The files that Dr. Cochran has referred to, you could




argue always, if you want to.




     You could argue that if we accept G.E.'s statement, that it has




operated safely, that is has not exposed people beyond a reasonable




amount to plutonium, has not contributed significantly to the environ-




ment and has done this despite the fact of safety violations — If




one imposed safety regulations which are supposed to be enforced,




then one could argue that things could be better still.  We would be




better off.




     This, I know, is not a good argument, but I am simply trying to




say that you can turn things anyway you like.




     Dr. Tamplin:  Of course, General Electric is still the safest fuel




reprocessing plant in the country:  it does not operate.




     Dr. Mills:  I would like to add for the record, there is a comment




from Mr. Deuster which has to do with what Dr. Cochran was talking




about,  from the standpoint of NFS, Erwin.

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228
       That is, he says the alleged violation about the NFS Erwin facility




  does not involve plutonium.  They are all uranium related.




       Dr. Cochran:  I thought I made the relevance of the violations to




  these hearings clear in my statement.




       Dr. Mills:  Thank you very much.











  (Note:  The  following testimony by Dr. Tamplin was given on the




  afternoon of the llth but is included here in the proceedings to aid




  in  continuity.)

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                                                                          229




     Dr. Mills:  I would like to get started, please.




     I would like to first bring your attention to what the main part




of the schedule is like.  We have run into some problems with plane




schedules and what have you.




     The next participants are from the Natural Resources Defense




Council.  Dr. Tamplin will speak.




     Subsequent to that will be Ms. Judith Johnsrud from the Environmental




Coalition on Nuclear Power.




     After that, we would hope that the members of the biomedical group




from the AEC could be around to answer additional questions the panel




might have.  The additional questions, we would hope to limit to, at




the most, 45 minutes.




     So, Dr. Tamplin.




     Dr. Tamplin:  I would like to start off by making just a few




general remarks.




     One of the things that I think should essentially be cleared up




for the record, we have heard a number of people mentioning various




standard setting bodies.  As I read the laws of this country, there




are two standard setting bodies that are standard setting bodies so




far as radiation is concerned.  They are the Environmental Protection




Agency and the Atomic Energy Commission.




     Now, there are other groups like the International Commission on




Radiological Protection and the National Council on Radiological




Protection and the BEIR Commission of the National Academy of Science.




None of these bodies have any responsibility whatsoever for setting

-------
230
standards.  They make recommendations,  but when it comes to the pro-




cesses of setting standards, I think it is becoming quite ludicrous




the way the AEG and the Environmental Protection Agency always refer to




these advisory bodies as standard setting bodies and try to pass the




buck there.




     1 might even say that if one looks at the legislative history of




the National Environmental Policy Act,  1 think you will conclude that




legislative history of that Act indicated that the NCRP and BEIR Committee




were not recognized by Congress as standard setting bodies, because when




that bill passed the House, it had an amendment on it which was going




to emasculate the EPA's position in this situation by saying that they




had to seek the advice of the National Commission on Radiological




Protection and the BEIR Committee.




     There was a lobby in the Congress on that and that particular




item was removed in the Senate.  The one passed in the Senate did not




contain that and the event was dropped when the conference between




the two houses took place.




     I think the legislative history that established the Environmental




Protection Agency indicates that the NCRP and these other committees




are not standards setting bodies and are not so recognized by the




Congress in that respect.




     So when it comes down to setting standards, the buck stops with




EPA and the Atomic Energy Commission.




     Now, certainly, there is a great deal of philosophy or a great




deal of principle that has to be involved in the setting of standards.

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                                                                         231
I think one of the unfortunate things that exists at this particular




point, both in the AEC and in the Environmental Protection Agency,




there seems to be no clear statement of what that principle is.




     The various agencies such as NCRP have talked about something




that is as low as practicable.  That is, basically, I think we have




seen in some of the discussions here, that is basically some kind of a




way that an industry can survive even though the regulations which




regulate it are not necessarily in the best interest of the public




health and safety.




     The EPA or AEC should clearly enuciate a principle that is involved




in terms of setting radiation protection standards.  I think we have




actually sort of a legislative principle that came out of the Congress




which said there should be no degradation in the air quality.




     Well, this is kind of a principle.  We do not see any of this in




the area of radiation protection, and if you look at the ICRP recommen-




dations, the limit for genetic exposure, they indicated that they felt




the level was such that it allowed latitude for the development of the




industry, and that they hoped it was a proper balance between benefits




and risks that were associated.




     They only hoped that; but they did know that it allowed sufficient




latitude for the development of the industry.  So that is kind of as low




as  is practicable.




     But that does not seem to me to be a sound principle of public




health on which to establish standards.   We have also heard in these

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 232
discussions here a number of people saying, well there is not enough




information at this particular point to determine what the standard




should be.




     Certainly we have heard that with respect to plutonium, that there




is kind of a growing consensus that the standard is too high.  It could




be reduced, we heard here today,  by a factor of ten to a hundred.




     Then we hear the comments, I do not think we should do anything




with the standards until we get some more information.




     This, again, does not seem to be a solid principle or practice for




public health.  It seems to me that our Environmental Protection Agency




or agencies that are set to protect the public health should clearly




enunciate the principles upon which regulations will be based.




     When information is lacking, they should determine the kind of




approach that would be used to establish the standard.  Now, when they




say that in the case of plutonium, that we do not know enough to set




adequate standards today, so depending upon your point of view — Mine




would be, well then, let us not fool around with plutonium until we do




know what the standards should be because we do know that the plutonium




standard is not adequate.




     The other approach is to establish a standard on the basis of the




conservative and supportable hypothesis and then let the industry develop




the technology to meet the standard.  But the idea of determining what




industry can do before you set a standard, or wondering whether industry




can survive with a particular standard, should not really be part of the




practice for public health.

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                                                                         233
     We have heard also here a great deal of discussion about fallout




of plutonium.  It is fairly easy to recognize that both the chemical




and physical nature of the fallout plutonium is most likely different




from that which will be expelled as part of a nuclear reactor program




in the plutonium industry.




     Not only is the plutonium in particles that are of much smaller




particle size than one could anticipate this industry developing, the




specific activity of the plutonium particles is also significantly lower.




From the nuclear power industry, you can expect particles of plutonium




oxide but the plutonium in the particles from fallout is mixed with




the debris that constituted the remainder of the device, and also




indicates that some of the surface and water is mixed in with melted




and reconstituted soil.




     1 think there is also some question in terms of the pathways to man.




Whether studies of plutonium fallout can be transposed immediately to




the releases from nuclear facilities.




     Of course, the other thing about  the nuclear facility is their




releases will for the most part be ground level releases, and they are




going to cause a much more circumscribed environmental consequence than




some of the very high altitude tests of nuclear weapons.




     Now, I would like to then get into, briefly, a discussion of the




hot particle issue and our petition to the Environmental Protection




Agency and the AEG asking them to modify their radiation protection




standards so far as they apply to alpha emitting radionuclides in soluble




form,  deposited in the lung.

-------
  234






     Just briefly, I would like to describe the nature of the hypothesis




on which this is based.  I might say I have not been concerned about




plutonium since the Chalk River Conference in 1944.  My concern about




plutonium only began in 1967.




     At that particular time, when we first looked at plutonium in the




laboratory, we recognized that one of the major ways in which plutonium




from the nuclear industry would be dispersed into the environment would




be in the form of highly radioactive particles of plutonium oxide which




are insoluble in deep respiratory regions of the lung and which have




long residence in the lung.




     So we were presented with more or less a unique situation where you




have a very small body of tissue that is irradiated to a very high dos-




age of radiation.  When we looked at the available data that related




to irradiating small bodies of tissue at very high levels, we discovered




that that data indicated that cancer was an almost inevitable result from




those experiments.




     Now, most of those particular experiments, of course, dealt with




various experimental animals and exposure of small areas of the skin.




At that particular time, this represented the kind of major information




you had.  Plutonium particles in the lung, very high doses, and when




you look at experiments that did that, you found out that cancer was




a very frequent result of these terms.




     So at that particular time, we suspected that these hot particles




deposited in the deep respiratory tissue in the lung may represent a




unique carcinogenic event.   It was then last year that Tom Cochran and

-------
                                                                        235
I reexamined the information that was available which had been prepared




and developed by Don Geesaman.




     We examined that information and what new information was available




and then supplied some quantitative numbers to this hot particle hypo-




thesis which eventually led to our petition.




     Now, some of the new information which is available to suggest




that hot particles deposited in the deep respiratory zone of the lung




may indeed represent unique carcinogenic events comes from — I think




we heard a discussion of it by Dr. Richmond, which was the lesion




which was excised from the palm of a mechanic.




     This lesion was caused by plutonium.  I think it was .8 microgram




of plutonium embedded in his skin.  I would just like to read if I may




the description which is found in the paper discussing that particular




lesion, which he excised.




     They said the autoradiograph showed precise confinement of the alpha




tracks to the area of maximum damage, and their penetration into the




basal areas of the epidermis, where epithelial changes typical of




ionizing radiation exposure were present.  The cause and effect relation-




ship of these findings, therefore, seemed obvious.




     Although the lesion was minute, the changes in it were severe.  The




similarity to known precancerous epidermal cytological changes, of course,




raised the question of the ultimate state of such a lesion, should it




be allowed to exist without surgical intervention.




     Now, as I read that, I gain the impression that here was a lesion




caused by a small particle of plutonium embedded in a palm of a hand

-------
 236
that had changes in it which made the pathologist think that if that




lesion was not excised, that there was a reasonable probability that it




would progress into a cancer.




     Now, there have been some experiments — These were also performed




by Dr. Richmond, who injected a few small microspheres of plutonium




into the femoral vein which subsequentely became lodged in the capillary




beds of the lungs.




     Now, commenting on these experiments which involved rats,




Dr. Richmond indicated that he found lesions around these microspheres




in the lungs of the rats.  His description is the pertinent thing here.




Such a lesion with coagulates degenerate and subsequent liquefaction due




to the large local dose of radiation at high dose rate has been reported




by Lushbaugh, whose description of a plutonium lesion found in the




dermis is very similar to that observed for plutonium in the lung.




     Now, Dr. Richmond et al subsequently went on and injected these




microspheres into the lungs of hamsters.  In the hamster lungs, they




also observed cytological changes around the microspheres.




     In the progress report for January through December 1973,' concern-




ing these lesions, they said:  A consistent observation of this lesion




after drastically different induction times could lead to speculation




that the amount of tissue irradiated is an important element in the




timing of the tumorigenic response.




     There has been no increase in the tumor observed within the past




year.  However, the epithelial changes described above should be con-




sidered as precursors of peripheral abnormalities.

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                                                                           237
     So, in other words, as we look at experiments for small bodies




of tissues exposed to high doses of radiation, we find that cancer is




a very frequent result.  When we look at small particles of plutonium




embedded in the skin, we see that they develop a lesion which suggests




that it should be removed because it may develop into tumors.




     When these hot particles are then put into the vast capillary




bed of the lung, lesions develop around those which have similar cyto-




logical changes and which suggest some kind of an incipient carcino-




genic response.




     Well, now, to proceed further with standards one has to first accept




the hypothesis that these hot particles of plutonium embedded in the




lung tissue may be capable of producing cancer, having a unique car-




cinogenic risk associated with them.




     If one, looking at the available data, does not accept that, then




of course, the need to go ahead and talk about standards for hot partic-




les just does not exist.




     My own feeling is that the evidence suggests that we should be very




cautious in considering these hot particles in the lung because experi-




mental data and biological data, biological observations, suggest that




they do pose a unique carcinogenic hazard.




     So, once one has accepted that, then in order to have standards




you have to, then, go ahead and develop some kind of a risk estimate for




the particles.  You need some approach towards a quantification of this




observed,  especially significant carcinogenic risk.

-------
238
      Well, to arrive at a quantitative approach, we use the experiments




  conducted on the skin of rats on which was observed a high carcinogenic




  response when some 24 square centimeters of rat skin was irradiated.




  This radiation dose got up above 2,000 rads, getting up to five tumors




  per rat.  There were a variety of experiments with x-rays and so forth




  but when he put these all together, he found that the number of tumors




  which he observed were strongly correlated with the number of atrophied




  hair follicles that were produced in this irradiated mass.




      It was between one tumor per 2,000 to one tumor per 4,000 atrophied




  hair follicles.  This, then, represented a correlation between disturbed




  architectural unit of tissue and the subsequent development of cancer.




      In developing quantitative values for hot particles we adopted




  this risk measurement as the risk for hot particles that when you created




  a disturbed tissue mass or disturbed tissue architecture that chances




  of that going on to developing cancer would be 1 in 2,000 as is observed




  for the disruption of hair follicles.




      The next thing which one has to turn to is what really constitutes




  a hot particle.  There again we use the experimental observations of




  Albert's skin data which indicated there was a precipitous change in




  respond to dosage when it went above  1000 grams.  So that then we




  use to define that limiting activity per hot particle so that the hypo-




  thesis proposed then with the quantitative values for establishing




  radiation protection standards was if a particle deposited in the deep




  respiratory tissue is of such an activity as to expose the surrounding

-------
                                                                         239
lung tissue to 3 dose of at least 1000 rems, in one year this particle





represents a unique carcinogenic risk.




     The biological data suggests that such a particle may have cancer




risk equal to 1 in 2000.  So this then is how we arrived at the




quantitative numbers related to exposure.




     Now plutonium 239, a particle which delivers 1000 rems per unit,




an oxide particle which delivers 1000 rems per year would be a particle




6/10th of a micron in diameter and containing .07 microcuries.  Than




then was the basis for establishing the hot particle standard which we




proposed to the EPA and the Atomic Energy Commission.




     1 might say that personally I feel that the observed biological




changes associated with hot particles in the palm tissue and in the




rat and hamster lungs surrounding these hot particles, these histo-




logical changes are sufficient for me to strongly believe that these




particles represent a unique carcinogenic risk,  and that the uncer-




tainties related to our hypothesis or related to our standards the




quantitative values which we selected in order to determine the




standards.   So the uncertainty is the risk of cancer for disruptive




tissue mass comparable to that for disruptive hair follicles.




     We selected the 1 to 2000 as the chance of  one of these lesions




going on and becoming cancer.  The other uncertainty is a particle




capable of irradiating the surrounding tissue mass at a rate of 1000




rem per year sufficient to produce such a lesion.




     We picked the 1000 rem per year because that correlated with the




beginning incidents of tumors and atrophied hair follicles in the

-------
  240
Albert experiments.




     The second part is the activity that we have selected as the




minimum activity to represent a hot particle.  The observations of




Richmond et al that the microspheres in the lungs of hamsters, these




cytological changes which they have observed in the hamsters occurred




with particles that were about 60 times or had 60 times more activity




in them than the critical particle activity which we selected.




     In order to get 60 times more activity in the particle, you have




to increase its diameter by a factor of 4, so that then gets us from




a 6/10th micron particle of plutonium 239 to 2.4 micron particle




which is still in the range where the particle can be inhaled and




deposited in the deep respiratory zone.




     With high burn-up fuel which would be used in the nuclear power




industry, that critical particle size would be smaller, because of the




plutonium 238 which contaminates plutonium 239.




     So the evidence then would suggest that we really do have a hot




particle problem and the question where there would be uncertainties




involved, just how critical is that hot particle problem?  We see the




histological changes in the lung particle sizes which can enter the




deep respiratory zone and which can be expected to be produced within




the nuclear power industry.




     Is the risk of such a particle comparable to the risk of the




disruptive hair follicle, something like one in 2,000.  We tried to




arrive, by using some biological data, at another value for the risk




associated with the particle.  We were unable to come up with it.

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                                                                          241
     Maybe someone else can.  So far they have not.  I might say that




in terms of the rest of the testimony that has been presented here in




these two days, the only testimony, factual information that was pre-




sented which was proposed to relate to hot particles dealt with the




exposures in the Manhattan workers.




     A particle size distribution for the Manhattan workers was




presented.  No one really knows what the particle size distribution




was in those Manhattan workers.




     The other thing is, even if they knew the particle size at this




point, they do not know what the specific activity per particle was.




The particle size distribution which was presented here was one that




was comparable to the particle size or was the particle size distri-




bution determined for the fire at Rocky Flats.




     So it represented the plutonium oxide particles that were




generated as a result of burning plutonium.  The studies of Hempelmann




describing contaminating events at Los Alamos indicates that the way




in which the plutonium was dispersed in the environment was a result —




one of the major sources was adding peroxide to plutonium nitrate




solution and aspiration of droplets from there.




     When one looks at the concentrations of plutonium in those




solutions, you have to have particle sizes for the most concentrated




solutions which they used; the concentration varies from one to 40




grams per liter.




     The most concentrated one, the 40 grams per liter, the particle




size had to be some 5 microns in order to have this limiting particle




activity which we have suggested here.

-------
242
     The data which you saw here were for particle sizes above .6




micron, something like a factor of ten below.




     Certainly, the Manhattan workers, since they represent some 30




years down the line, we did have some better information about what




the nature of the particles that might have been involved in their




exposures were.  We might be able to shed a little bit more light on




this.




     But at this particular point, there is really no way of using the




Manhattan workers.  The information and the nature of the examination




would suggest that hot particles as we have defined them were involved,




and if a critical particle activity for a hot particle is something




like 60 times what we have suggested, well, then, the chances are




extremely remote that they were involved in that.




     I might say, though, with respect to what the critical activity




to make something qualify as a hot particle, that the experiments on




the hamsters were involved with animals that had relatively short life




spans, and there is no reason to rule out that if particles of lower




activity existed in animals with a longer life span, that the kinds




of histological changes that were seen in the hamsters would appear at




lower and lower particle activity.




     Also, there is a suggestion that since none of these hamsters




developed a cancer that that tends to rule out the hot particle hypo-




thesis.  But there is no a priori reason for believing that the induc-




tion time by this mechanism is compatible with the life span of a




hamster.

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                                                                       243
     So, that then, is sort of a condensation of the nature of the




hot particle hypothesis, following the approach which we used to




insert quantitative values into the hypothesis in order to derive




exposure standards associated with a unique carcinogenic risk.




     With that, I guess I will meet with your questions.




     Dr. Mills:  Thank you, Dr. Tamplin.




     For the record, I would like to point out what you probably already




recognize.  Under the legislative authority of EPA, with the transfer




of the Federal Radiation Council, there is a legislative history




associated with that which calls for the administrator of EPA to consult




with NCRP, the president of the National Academy of Sciences, as well as




other groups.  So it is consultation, then.




     I am somewhat intrigued by this critical architectural unit petition.




A great deal of the hypothesis has been proposed, related, and I assume,




you are making a relationship between a hair follicle such as units in




the lung.




     Would you care to broaden this particular unit in terms of a




particle that might localize in other tissues, as what this unit




might be?




     Dr. Tamplin:  I think the observation of Lushbaugh on the single




particle embedded in the palm of the mechanic suggests that the




critical architectural unit is more diffused in that particular tissue.




     I think the same thing applies relative to the observations of




Richmond around the microspheres, that the critical architectural unit

-------
 244
in terms of the skin experiments happen to be a hair follicle that was




more sensitive to this kind of disruption than was the rest of the skin




tissue.




     But there is no reason to suspect that other portions of the skin




would not also, a particle would not have accrued a disruptive tissue




mass of a sufficient size to represent a unique carcinogenic event.




     Dr. Morgan mentioned earlier the experience of Finkel in which




he injected a microgram quantity under the skin of rats and produced




a high incidence of cancer.




     There is also the experiments at Argonne which put things such as




small pieces of mylar film under the skin of rats and produced cancer.




     What you are talking about here is a disrupted tissue architecture.




The experiments of Bruse would suggest that you could do this, that with




a hot particle you are creating an altered tissue mass which in itself




creates or may be creating a new surface which represents a unique car-




cinogenic move towards the surrounding tissue.




     So I would say that on both the lesion and size by Lushbaugh and




observations on the rat and hamster lungs suggests we probably should




never have used the critical architectural unit kind of thing.




     We suggest that this is rather diffuse in some cases.




     Dr. Mills:  You would expect this to be diffused in the lymph




nodes?  The particle might be located in the lymph nodes?




     Dr. Tamplin:  I would not rule out the possibility that there




would be such areas within the lymph nodes.  At this particular point,

-------
                                                                         245
I am only talking about the lung and the observations that epithelial




metaplasia and so forth is occurring around the particles deposited




in the lungs.




     I think the evidence concerning these cytological changes exists.




     Dr. Mills:  As I understand it, you propose a thousand rems per




year constitutes essentially a threshold dose for the induction of lung




cancer?  I am asking this from the standpoint of a broader issue than




the hot particle.  Obviously the threshold concept from the standpoint




of setting standards has not been adopted.




     Would you care to comment on that from the standpoint of the use




of a threshold in setting standards?




     1 am not sure I really understand a thousand rems p^r year.  Is




that the lowest dose that will induce the lung cancer?




     Dr. Tamplin:  We stated' in our report that we selected this because




this was where there was a precipitous change that occurred in the




Albert data, and in my presentation here, I indicated that when you use




that, you arrive at a certain particle activity.




     The observations of Richmond at this particular time, he has




observed that these cytological changes around particles are about 60




times the minimum activity which we selected.




     That is one of the uncertainties in there.  We also say in this




nothing about particles of lower activity.  That does not mean some-




thing that delivers 990 rems is innocuous.  As a matter of fact, I




think someone like Ed Martel would pick up on that end of the spec-




trum and propose a new hypothesis associated with particles of lower

-------
246
 activity than the ones we are suggesting.




      We in this particular case were trying to define the biological




 consequences of the effects of particles of a particular size.   Any




 inference about lower particles or so forth, I do  not think can be made




 from the information.




      Dr. Mills:  I think it would be interesting,  have you received




 any comments, either you or Dr. Cochran, from Dr.  Albert or Dr. Lushbaugh




 as to the interpretation that has been applied to  these?




      Dr. Tamplin:  Ever since we submitted this report to the EPA and




 AEG, we have been treated like lepers.   There have been many opportun-




 ities.




      When we submitted it, we had hoped that what  this would do would be




 to begin a constructive dialogue that might lead to resolution, and




 that is why we welcomed the chance to come here.




      We can begin with the sequence of events.  This is in the material




 you have.  In our critique of the Bair, Richmond,  Wachholz report,




 WASH-1320, we go through the background of this.




      I  might read it since you asked the question.  On February 14,




 1974, the Natural Resources Defense Council petitioned the Atomic




 Energy  Commission and the Environmental Protection Agency to amend their




 radiation protection standards applicable to hot particles, plutonium




 and other actinides where hot particles were defined more fully in the




 accompanying reports.




      I  will skip over that.  That is what happened on February 14.




      On March 15, 1974, the AEC released its draft of the Liquid Metal

-------
                                                                        247
Fast Breeder Reactor Environmental Impact Statement.  This statement

contained a 15 page discussion of the hot particle problem.  This
                                                                      *•
discussion, based on an earlier report by John Healy of the Los Alamos

Scientific Laboratory, was used as justification for ignoring the

approach taken in the Tamplin-Cochran report for estimating lung cancer

incidents associated with the inhalation of plutonium particulates and

using instead the assumption of uniform lung exposure, even where hot

particles are concerned.

     On March 28, 1974, the AEC gave notice in the Federal Register of

NRDC's filing its petition and requested public comment.

     On April 16, when NRDC submitted to the AEC a critique of the

hot particle in the draft LMFBR environmental impact statement, since

the hot particle discussion in the draft statement drew heavily from

the Healy report — As a matter of fact, much of it was produced ver-

batim — the NRDC comments were a critique of the Healy report itself.

     On August 5, the AEC said it was releasing a draft impact state-

ment on mixed oxide fuel, which they called effectively draft GESMO,

and NRDC in a letter of February 21, 1974, requested the AEC to give this

generic environmental statement full and candid discussion of the recom-

mendations supporting evidence presented in the NRDC division and

accompanying report.

     In the draft GESMO, just as in the draft LMFBR, the uniform

exposure assumption was used to calculate the lung cancer risk for

hot particles.

-------
  o
48
     The first paragraph from the final quote from the draft GESMO

gives justification for this assumption, and the remaining two para-
        *
graphs describe the AEC's treatment of the NRUC petition and the

Tamplin-Cochran report.

     I will not read this whole thing, but I just wanted to say that

what occurred there was, in the draft GESMO — This is now put out

some six months after we responded to the draft, the LMFBR statement,

they put the Healy report in the draft GESMO and totally ignored our

comments on the Healy report.

     Finally this comes out, WASH 1320, this is coming out now, about

eight months after we have submitted out comments on the Healy report.

It covers much the same material that was covered in the Healy report

and which we commented on.

     In this they did not acknowledge any of our comments.  They have

absolutely refused, and I say this applies to EPA, they have absolutely

refused to engage in a dialogue with us.

     So here we are here today for the fifth time, repeating the same

argument, and hearing the same ones.

     Dr. Mills:  I am afraid you interpreted my question much too

broadly.

     What I specifically asked you was, had you in fact had any comments

from Dr. Albert or Dr. Lushbaugh?

     Dr. Tamplin:  As I say, we have been treated like lepers.  We

have received no comments from anybody, EPA or anyone.

-------
                                                                         249
     As a matter of fact, they had a meeting on plutonium at Los Alamos,




and it was by invitation only.  Of course, we were not invited.




     We have been around.  People could have written to us, and we




could have responded.




     Dr. Mills:  OK.  I have no further comments.




     Dr. First?




     Dr. First:  I have none.




     Dr. Mills:  Dr. Radford?




     Dr. Radford:  Arthur, some years ago, you and John Gofman




submitted a number of critiques of the then existing radiation stan-




dards for population distribution in general.




     One of the critical issues that you raised at that time was the




concept of the doubling dose for radiogenic cancer.  Is that correct?




     Dr. Tamplin:  Yes, we indicated that our impression was that the




available data would support the idea that all forms of cancer, the




natural incidence of all forms of cancer, would be doubled by the




same level of radiation.




     Dr. Radford:  Without taking anything away from the value of the




analysis you did, do you still believe that that statement you just




made is correct?




     Dr. Tamplin:  I have not seen any solid information at this point




which would cause me to change that.   I might say that I do not feel,




in terms of the issues that we were raising and in terms of setting




radiation protection standards, that  that was an hypothesis upon which

-------
250
    the  effects  of  radiation had  to  live or die.




         I would say  that  certainly  the hypothesis has not been proven,




    but  at this  point,  I have not seen any sufficiently cogent arguments




    causing me to reject it, based upon the available data.




         Dr.  Radford:   As  you know the BEIR committee went through an




    exercise  very similar  to what you and John Gofman had gone through and




    they reached a  conclusion that the doubling dose was not constant for




    different types of  cancers.




         Different  organs  or different tissues within organs would respond




    differently  to  the  same radiation exposure.




         Have you read  that section?




         Dr.  Tamplin:   I read that section and, quite frankly, I think they




    have milked  the data for a  little bit more than it was worth.




         I was somewhat concerned about the dosimetry approach that they used




    with respect to spondylops.  At  the same time, the answer that they came




    to in terms  of  the  practical problem of radiation protection was not all




    that different.




         So,  so  far as  the biological effects of radiation are concerned,




    I feel that  their committee report is a perfectly adequate document for




    reasonable people to make reasonable judgments on.




         I think the  disagreements I have with it are more academic than




    practical.




         Dr.  Radford:   One rather important academic or practical conclusion




    germane to today's  discussion is the reading of sensitivities of differ-

-------
                                                                        251
ent tissues.  That is the point I am trying to get at.


     Do you believe that different tissues in the body, in man now,


the available human data, differ in their likelihood of developing cancer


when the radiation exposure is, as far as we can evaluate it, approxi-


mately equivalent?


     Of course, one of the biggest groups where we can do this clearly


is the Japanese survivors, where they all got the same kind of exposure,


even if it might differ in quantity.  There, the evidence is clearly


that certain types of cancers are not increased whereas other cancers


are very significantly increased.


     Dr. Tamplin:  The evidence which I have looked at and which was


most compelling to me at that time, you might say I have not checked


back in on the atomic bomb casualty commission data, I figure I would


wait another few years because, among other things, I would like to see


the people who were very young at the time of the exposure.


     I would like to see their subsequent experience in terms of cancer,


but anyway, I recall back when I was first learning radiobiology that
                                              I

they were talking about radioresistent tissues and radiosensitive


tissues.


     At that particular time,  the leukemia in bone marrow was considered


the most radiosensitive because you found a lot of leukemias.  A radio-


resistent organ was called a thyroid gland.


     It was not very long after that that they began to find these


thyroid cancers in children who were irradiated in the sinus during


infancy.  Anyway, when they finally put the radioresistent organ and

-------
252
this radiosensitive organ together, they calculated the number of




cancers per rad, it turned out to be the same for both of them.




     So, I became a little bit skeptical of that at that time.




     Dr. Radford:  We can all have our opinions about what statements




have been uttered by people in the past.  That is not really what I




am trying to get at here.




     Dr. Tamplin:  I do not understand exactly what it is you are




trying to get at.  I have not, at this point, and I am willing to be




convinced by the evidence, but I have not set aside the idea that there




is a doubling dose related to carcinogenesis.




     I understand this is modified by things like synergism and so




forth, and 1 do not think that the data in the BEIR report and the




analysis in the BEIR report sets that aside at all.




     But I agree that the consensus of the BEIR committee was that the




doubling dose concept was not applicable.




     I might also say that once I saw that, I was working on other




things, I have not gone back through the data in any great detail.




     Dr. Radford:  But the implication of your written material and,




to some extent, your oral material today, was that there were critical,




self-divided groups in the skin which would be more at risk, and that




specifically was the hair follicle.




     Now, would you say that the hair follicle is more at risk than




other tissues in the skin or not?




     Dr. Tamplin:  I see what you are getting at there.

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                                                                        253
     Yes.  I would say the hair follicle was such that the mechanism




involved there, in those terms, the hair follicle was the one that




developed the tumors, as they increased the radiation dose and killed




over the tissue there irradiated, forms of cancer began to appear from




the underlying tissue.




     So I would say certainly the observations in terms of the experi-




ments conducted by Albert indicated that the hair follicle developed




cancer sooner than the other tissues did.  Yes.




     Dr. Radford:  Sooner, in general, would mean that it is more




sensitive?




     Dr. Tamplin:  OK.  If you want to define it, it is the same way




leukemia occurred much earlier and thyroid cancers and so forth.




     Dr. Radford:  With regard to the problem of setting air or other




standards for plutonium in soluble particles, what specific tissues —




where do you expect the problems lie?




     Is it because you are concerned with particles getting embedded




in the skin?  Or how are you going to regulate that?




     I would like to know where you think the problem is.  I have read




it in your material.  I would like to get it from you personally.




     Dr. Tamplin:  Our petition was specifically related to inhalation




and particles in the lung.  Certainly I think the particle that was




excised by Lusbaugh suggests you would not want to have 200 or 300 of




those particles embedded in the palm tissue, but our petition was




directed towards the lung.

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 254
     Dr. Radford:  Now, in the lung of man,  do all tissues show the




propensity to produce cancer?




     Dr. Tamplin:  You are bringing it down from organ tissue.  As




you indicated yesterday, the major ones are pulmogenic carcinomas and




the uranium miners; there would be different kinds.




     Dr. Radford:  And the gas workers, and the metal workers, and




various other workers.  But let us leave the histology out for a moment.




We have enough problems as it is.




     The point is they arise from the bronchial cells, correct?




     Dr. Tamplin:  Yes.




     Dr. Radford:  So that the question at issue is what is the specific




dose from a particle going to do to bronchial epithelia tissues.  Is not




that correct?




     Dr. Tamplin:  I am not sure that we are talking about what a




specific dose does.  The whole effect, in this particular case, may be




mediated by radiation injury or killing of cells in the development of




a lesion, rather than, say, a carcinogenic mechanism caused by the




radiation effect.




     Dr. Radford:  But the cell damage might occur by a subpleural




particle, and might not be likely to have any effect on the bronchial




epithelial, say.




     Dr. Tamplin:  I do not know what the dimensions are involved.




     Dr. Radford:  I am trying to get at the point, where does the




damage occur?

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                                                                         255
     Dr. Tamplin:  The particle is deposited in the alveolar tissues




below the ciliated bronchi where it is deposited in there.




     Dr. Radford:  But cancers in man do not arise from alveolar tissue,




except extremely rarely?




     Dr. Tamplin:  Yes.  And the particle is lodged in there and it




creates a disturbed tissue mass.




     L)r. Radford:  We have a great many disease processes that lead to




disturbed tissue as architecture in the lung, yet they are not associated




with cancer in that site.




     For example, in an asbestos worker, they do not develop cancers in




the alveolar cells even though they have asbestosis.  They develop it




in the bronchi, right?




     Now, I am trying to get at the question, if you inhale insoluble




plutonium particles, how do you postulate that they are going to produce




the disturbed architecture and the radiogenic changes in a tissue which




would be sensitive to carcinogenic change?




     You have indicated that they are deposited in the alveoli, as I




have tried to point out —




     Dr. Tamplin:  You are proceeding mechanistically.




     Dr. Radford:  You cannot say just because you handle a particle,




you are going to get cancer at some remote point.  That would have to




be a scope or effect, the likes of which I do not know.




     Dr. Tamplin:  We would expect that this particular particle




radiates a tissue mass and causes much the same as we saw on the palmer




tissue or as the particles in the Richmond experiment which were

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 256
deposited in the capillary bed produced this epithelia metaplasia.




     Dr. Radford:  But the changes in the Richmond studies were in




tissues that do not have epithelial hyperplasia or growth.  There may




be modifications in the cells, but it is not a point at which cancers




normally arise in man.




     There are differences between animals and man.  I do not want to




get into that in detail here.  I would prefer to get with Dr. Bair on




this, but the point I am trying to get at here is, to my knowledge, in




general, environmental effects on lung tissue have not produced cancer




except in the bronchial tissues or in the mesothelium cells, not in




the lung itself.  Would you say that is a fair statement?




     Dr. Tamplin:  I would have to confess that my knowledge of that,




I cannot answer that question at this time.




     Dr. Radford:  Let us assume that it is the bronchial epithelial




tissue at risk here.  Then the question is, how would you postulate




that an inhaled plutonium particle would affect the likelihood of




bronchial epithelial undergoing a malignent change?




     Dr. Tamplin:  It depends upon if you want me to affect that




directly, one would have to look at where the particles were ultimately




deposited.




     As I recall some of the observations that were made, for example,




one of the things they suggested was the particles were kind of moved




around and eventually, they are engulfed in macrophages or in the




epithelial cells.  One would then have to —

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                                                                         257
     My problem at this particular point is I do not have the dimensions




of this thing perfectly well in mind.  I can see a particle deposited




in the alveolar space near the terminal bronchi, which is killing cells




in a broad area.




     Dr. Radford:  Forty microns?




     Dr. Tamplin:  No.  It would be bigger than that because of the




spongy nature.  I do not think that at this particular point I will be




able to answer your question.




     I am going to have to think about it some more.




     Dr. Radford:  In other words, the model which you presented on




deep lung deposition really referred to alveolar deposition and




retention?




     Dr. Tamplin:  Yes.  Because the indications are it's only in the




deep respiratory zone below the ciliated bronchi that this resting time




exists.




     My knowledge at this particular point of the dimensions of what




we are talking about —




     Dr. Radford:  In other words, if I may summarize briefly what you




have just said, your model postulates a certain deposition in the




alveolar tissue, with a radiation of that type of tissue predominantly,




leading to cancer?




     Dr. Tamplin:  I do not say it predominantly.   I simply, at this




point,  would not want to agree that that is what we are saying at this




point.




     Dr. Radford:  Can you make any other statement as to what might

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  258
occur in terms of the risk to individuals inhaling insoluble particles?




     l)r. Tamplin:  No.  As I say, you can see what that is based upon.




I would like to go back and look into this aspect of this question




which you raise here.




     Dr. Radford:  We may, if we have time, get some comments from




other panelists, the AEG representatives, which may help you out a




little on this.




     You are familiar with the fact that Dr.  Albert did some earlier




epidemiologic evaluation of children irradiated for ringworm in the




scalp and found some skin cancers?




     Do you recall what the dose was which those children received?




     Dr. Tamplin:  No.  I did not review that particular work.   I




also understand that subsequently they developed some pyschological




problems.




     Dr. Radford:  Psychological problems, too, yes.  That is direct




evidence in man of the carcinogenicity of radiation on the skin.




     The reason I bring that up, is there any reason to believe that




the skin has a somewhat different dose response curve than other




tissues?  More of the threshold type, or likely to have?




     Dr. Tamplin:  I cannot postulate any reason for suggesting that




the skin —




     Dr. Radford:  Basing it upon experimental evidence, such as it is,




in man?




     Dr. Tamplin:  Not to my knowledge.

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                                                                         259
     Dr. Radford:  As you know, skin cancer was one of the first




radiogenic cancers that have been described?




     Dr. Tamplin:  Yes.




     Dr. Radford:  So far as we can see, it does appear that the skin




is somewhat more resistent to an overdose, at least, this is a tenable




hypothesis compared with other tissues in the body where significant




effects have been observed at low doses.




     And, indeed, the animal experiments of Dr. Burr showed earlier




seem to show that with relatively low doses, carcinogenic cancers can




occur.




     I would like to come back to this question of the significance of




your thousand rem per year.  Is there any reason why you put a per




year on that?  In other words, why is there a critical dose rate?




     Dr. Tamplin:  The basis for that was it may seem to suggest that




that was a reasonable terminal turnover rate for the epithelial.




     Dr. Radford:  Except in a number of tissues that are not greatly




turning over more rapidly than that or the same as in the case of the




bone cells.  We have heard about the radium-224 data that protracting




the dose does not seem to have very much effect.




     It may have in some cases an enhancing effect, and in other cases




a slightly less enhancing effect.  But traditionally, and in keeping




with the ICRP view of these things, protracting the dose for high L.E.T.




radiation does not really change the cancer.  It is the total accumu-




lated dose.




     Would you agree with that?

-------
     Dr. Tamplin:  Yes.  The reason for selecting, putting the one





year on there, again, as I say, we were postulating as a mechanism




here.  It was more of an injury media mechanism, rather than a biological




transformation of cells into carcinogenic cells as a result of the




radiation.




     Therefore, the idea was in that respect that this would tend,




then, to kill essentially a large fraction of the cells within the




irradiated body, so that is why we were concerned with what was repre-




senting turnover time.




     I say that is one of the uncertainties that are involved here:




What constitutes a hot particle?




     Dr. Radford:  In other words, if I can put it in another parlance —




I will let you agree or nor agree — At high enough doses, ionizing




radiation acts as its own co-carcinogen.  Would you go along with that




as a statement?




     Dr. Tamplin:  I have heard that, yes, that you both damage tissue —




     Dr. Radford:  You transform some cells and you destroy the




architecture.  Is that, in essence, what you are saying?




     Dr. Tamplin:  I think it is plausible.  I do not think it is




necessary in all cases that both things happen.  It is possible in the




case of these particles that that does occur, but I do not think it is




necessary that both events occur.




     Dr. Radford:  But you implied that there had to be a disturbance




in the normal architecture as a necessary condition, which is almost

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                                                                         261
the same thing.




     Dr. Tamplin:  OK.  In other words, it was simply that changed




architecture as a potential carcinogenic mechanism, such as the mylar




film —




     Dr. Radford:  What 1 am really trying to get to is the question,




what about the smaller doses or dose rates, or what about the other




isotopes like plutonium 238 which would have a higher dose per unit




volume?




     Would you expect that plutonium 238 would have a higher rate or a




lower rate than plutonium 239?




     Dr. Tamplin:  On a per particle basis?




     Dr. Radford:  Let us put it on a per curie basis, although that




is a little difficult because, obviously, the particles are —




     Dr. Tamplin:  A particle of plutonium 238 which was not sufficient




activity would be no more or no less than plutonium 239.




     Dr. Radford:  Yet a particle of plutonium 238 would be substantially




smaller, I think.  I have calculated quickly.




     Dr. Tamplin:  Yes.  It would be.




     Dr. Radford:  About one 300's of a volume,' so it would be around —




I cannot do it quickly.  So, in other words,  a particle of plutonium 238




would have a much smaller volume, would deliver your thousand rems a




year from a much smaller particle?




     Dr. Tamplin:  But if you took a particle of plutonium 238 that




was one micron in diameter,  a particle of 239 which was one micron in




diameter, we would suggest that the effects would be the same.




     Dr. Radford:  But the activity is much greater?

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262
     Dr. Tamplin:  The activity would be much greater, but it is the




particle that is involved rather than the activity.




     Dr. Radford:  Then, in other words, the dose distribution around




the particle is really not critical here?




     Dr. Cochran:  Let me say I believe you are trying to read more




into the model than we thought the biological data suggested.




     You could say the biological data is poor.  Everybody admits




that.  We tried to build a model and assign some risk numbers on the




basis of available data.




     I think you are carrying this beyond what we thought at the time




we could build into the model from the available data.  We assigned




a risk per particle and made that the same risk per particle regardless




of the activity level of the particle, as long as it was above some




minimum activity level sufficient to disrupt the architectural




structure which in turn carries some probability of developing into a




cancer.




     Your questions are useful questions, but is sounds like you




believed we had more depth into the model than we really did.




     Dr. Radford:  I am beginning to get that impression.  Yes.  But




I still think in contrast there is a good body of information.  The




sophistication of dosimetry that has been applied experimentally,




even in man, to radiogenic cancer is a very high level indeed.




     In effect, what you are saying is that dose is not germane to




this issue, which I find difficult to believe.




     Dr. Tamplin:  In this particular case, I do not know that we are

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                                                                         263
proposing a novel mechanism for carcinogenesis.  Other people have




suggested injury media mechanism before.  We feel that the particles




are involved in a different mechanism of carcinogenesis than uniform




radiation or more uniform radiation tissue, with the same number of




curies.




     I am proposing that the mechanism involved here is identical with




this other mechanism for carcinogenesis.




     Dr. Radford:  What you are saying seems to imply to me that if




you have particles below a certain critical diameter, then everything




is all right.




     Ur. Cochran:  No.  We just meant we offer no opinion.  We offered




an opinion where we believe the available biological data supports the




hypothesis and a petition to EPA and AEG to amend the standards.  We




offer no opinion on some of these other areas.




     Dr. Radford:  All right.  If I may summarize now, then I will pass




on the microphone here.




     If I may summarize, you are saying on the basis of a skin radiation




effect, predominantly by Albert, you come out with the impression that




a hair follicle constitutes a significant target for radiation, and that




from his data, you infer that about one in every two thousand, when




radiated above a thousand rems, and he really did not work very much




below that,  incidentally — so you cannot say on lower doses what




might have been expected.




     On that basis, then, you translate that to a risk factor for




particles deposited in the alveoli of man.  Am I correct in that bridge

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264
 there?




      Dr. Tamplin:  As I indicated, if you want to develop radiation




 protection standards, in order to do that, you have to assign some




 risk value.




      Now, the risk value which we used was related to this disrupted




 tissue architecture that derived from the alveoli.  That said that if




 you have a disrupted tissue mass that the chance of it developing into




 cancer was like one in two-thousand.




      It is one of the uncertainties in this thing, as to whether or not




 that happens to be a number which is available which relates to disturbed




 tissue architecture, to cancer.




      The other uncertainty in it involves the size of the activity of




 a particle that is required to produce this disturbed tissue archi-




 tecture.




      There are other mechanisms of the biological effects of radiation




 that one can postulate, but this is the nature of our hypothesis and




 the nature of the data that we used to quantitate it in order to arrive




 at numbers that would be available for setting radiation protection




 standards.




      It is uncertain, and this question about particles below .the




 critical particle size, we come to no conclusion on, in that respect.




      Dr. Radford:  What was the nature of this disturbed architecture




 in Albert's experiments?




      Dr. Tamplin:  He said the tumors that developed were similar to




 those, and he plotted it, atrophied hair follicles versus tumors.

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                                                                         265
     Dr. Radford:  But the disturbed architecture, then, was atrophy?




     Dr. Tamplin:  That is how he described it, yes.




     Dr. Radford:  But atrophy simply means the cell division has




stopped, which in those doses it almost certainly would have.  Is




that disturbed architecture?




     Dr. Tamplin:  Well, certainly.  In other words — I am afraid I




do not —




     Dr. Radford:  The implication from your hypothesis, as I understand




it, is you get liquefaction of tissue, you get actual radiolysis of




tissue.  That is very different from atrophy of a hair follicle, from




simply stopping cell division, is not it?




     Am I wrong in assuming that one of the disturbed architectural




features that you are describing is the very intense radiation exposure




right around a particle where it is killing cells?




     Dr. Tamplin:  And creating a lesion.




     Dr. Radford:  That is very different from atrophy of a hair follicle.




Would you agree?




     l)r. Tamplin:  Not necessarily.  No.  I would not necessarily agree




with that.  I would be willing to look at some other approach towards




determining what the risk, say, associated with these cytological




changes that are observed around these particles are.




     That happened to be a number which was available that represented




disrupted tissue and subsequent cancer.  It may be there may be better




choices.

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 266
     Dr. Mills:  Dr. Garner?




     Dr. Garner:  Dr. Tamplin, let me tell you that when I first read




your petition, there were several things that troubled me.  I guess it




started off with this tremendous leap from effects, let us say, of




about 1,000 reins of electron radiation delivered in a few hours to




skin, to the effects of a 1,000 rem delivery over a year to a lung.




     But the thing that bothered me most, I think, was that you simply




had not reviewed all the literature.  You made the statement that you




and Dr. Cochran had noted all the information available, but you had




not read all the information available, to my mind.




     You mentioned — Many of them, I agree, but there are several




which suggest strongly to me that non-uniform radiation is less




effective than uniform radiation.




     Above all, the thing that seemed most significant to me was that




you built the entire hypothesis practically on Albert's experiment




with electronic radiation of skin.   Yet you have omitted to refer to




one paper which was specifically addressed to this tissue, one which




appeared in Radiation Research, Volume 30, 1967.




     This was work on tumor formation from electronic radiation in a




rat.  It addressed itself specifically to this problem.




     Its introduction starts off:  "The cancer hazard arising from




occupational exposure to ionizing radiation is almost never associated




with a uniform distribution of dose in exposed tissues.  Non-uniform




radiation patterns may take extreme forms.  In the case of radioactive

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                                                                        267
particles in the lung, the dose to very small volumes of tissue close




to the particles may be thousands of times as high as the average for




the organ as a whole."




     It goes on to say, "The extent of the cancer risk from such highly




non-uniform dose distributions is called the "hot particle" problem in




the field of radiological health protection."




     It came up with the results, and I quote from them.  It states the




observations suggest that "at very high non-uniform pattern radiation




doses the skin responds as if it were uniformly irradiated, but at




lower doses the observed tumor yield following non-uniform radiation




can be considerably below the predicted level."




     Dr. Tamplin:  If I am not mistaken, we did discuss the sieve




pattern which Roy Alberts performed.  They indicated when they used




the sieve pattern, carcinogenic response was suppressed.




     Subsequently, there were some additional experiments which were




done.  One of the problems with the carcinogenic response seemed to be




dosimetry because of the high scattering of electrons.




     In the proton experiments, the carcinogenic response was not




suppressed in the sieve pattern.  The presumption there was that the




dosimetry was better understood.




     What was the volume on that?




     Dr. Garner:  Volume 30, page 525.




     Dr. Cochran:  That is our reference 35 in "Radiation Standards




for Hot Particles."




     Dr. Garner:  What I was really getting at,  it seemed to me to be

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 268
rather a one-sided review of the information available.




     You have not made use of all of the information available.   That




is how your petition struck me.




     Dr. Tamplin:  We did not reference all the information.   Some of




it, we thought, was not relevant.  It does not mean that we have not




looked at it.




     Dr. Garner:  But you did not give the other side of the picture.




     Dr. Tamplin:  In proposing this, we did not say we  had proven




anything.  We said this is a hypothesis that seems to be supported




by observations, and presented information which we felt was supportable.




     Dr. Cochran:  I might add, there seems to be some confusion between




a hot particle hypothesis, as we have proposed it, and this concept of




uniform versus non-uniform dose on a per microcurie basis.   We tried




to discuss and clarify this issue in our critique of WASH 1320.   There




are numerous experiments on uniform versus non-uniform dose,  which




suggest that when you analyze it on a per microcurie basis, the  more




spread out the dose, for example, spreading the activity on more




particles, the higher the tumor incidence.  But these data  can be




exactly consistent with the hot particle hypothesis.  The point  is




you are examining tumors per microcurie, whereas the hot particle




hypothesis is based on tumors per particle.  So it is not particularly •




relevant to say such and such an experiment sees a higher tumor  risk




with more uniform exposure.  That could be consistent with  a hot




particle hypothesis.  If you take the same activity and  put in on




more particles assuming there are hot particles you get  a higher tumor

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                                                                         269
risk according to the hot particle hypothesis.  You really have




demonstrated nothing, that is to say, you have not tested the hypothesis.




     Dr. Garner:  So that is one point of view.




     Dr. Mills:  Dr. Morgan?




     Dr. Morgan:  Most of the questions I might have asked have been




addressed.




     In interest of the lateness of time, I will refer to your statement,




Dr. Tamplin, that we should have a quantitative approach to the risk in




hot particles.




     I think we all agree to this very much.  It is a question —




certainly Herb Parker and I and a few others have lived with it for




over 30 years, and worried and wondered about.




     There have been many other questions of similar importance that




we have had to face in setting our radiation protection standards.




     You indicated that you and Dr. Cochran and perhaps others, because




of the position that you are taking, that you were looked upon as lepers.




Certainly not in my eyes — not through my eyes do I look on you that




way.




     You tell me when the time comes that all people that are willing




to stand up and take a position are ruled out — When this is no longer




possible, then I will tell you the time when there is no longer democ-




racy, because I think it is very essential that we have people like you




around to believe in something and take a position,  and enable us to




thrash these things out.




     Some years ago,  six or seven years ago, you and Gofman suggested

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270
that the environmental exposure level of 500 millirems per year should




be reduced by a factor of ten.




     Well, independently, the Atomic Energy Commission reduced the




exposure factor by 100.  They went one better than you.




     I rather doubt now, from any information that I have seen, that




they will reduce the figure that you have suggested, reduction factor




of a ten to the fifth, and suggest a factor of ten to the seventh.




     We have similar questions, of course, to the hot particle question




that we have had to address and to live with for many years.  Even in




external exposure, there is a question at times of whether to take a




surface dose, the average dose, the mid-line dose, the gram-rem dose,




or the gram-rem dose average.




     We really do not know which best repesents the risk, to man or




to animals.  So basic questions like this still remain to be resolved,




but this is not unique to ionizing radiation.




     You have even more when it comes to the environmental pollutants




that we have to deal with.  When it comes to internal dose, the




internal dose committees of ICRP and NCKP have made a number of simpli-




fied assumptions, hopefully that they were justified on the basis of




limited biological data.




     For example, the average dose over an entire organ, we knew this




basically is not what we would like to do.  The kidney is not really




one organ, but we average the dose to the kidney over the entire kidney.




     If we had more biological data, if more hundreds of millions of

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                                                                        271
dollars could be spent on research, and perhaps some time it will,

then we would treat these as separate organs and average over the

different components.

     When it comes to bone, we are doing a little better through the


years.  Thanks to the biolgoical data that has been accumulated at

Hanford and at Salt Lake and at a number of other laboratories, we
                                               •
now believe that we might be justified in averaging the dose to the


tissue, and the Commission suggested averaging it out to a distance


of ten microns in this tissue.

     This seems a rather arbitrary approach, but maybe we are getting

a little closer to the target that we are shooting at.

     Then, when it came to the question of lung dose, as has been pointed


out by several of the very fine papers here today, when insoluble

material like plutonium dioxide goes into the respiratory system, a

large fraction of it ends up in the pulmonary lymph node.

     Even in some human cases, considerable amount of plutonium in

soluble form is localized there.  But the International Commission,

again, has wrestled with this problem through the years, for over a

decade, and suggested many different solutions.  But we never found

a satisfactory one other than it appears at the present time, from the

data that we have at hand, that the lymphatic tissue is not a likely

target for these malignancies.


     They do not seem to show up in animals.  They do not seem to

originate in these particular cells, even though they received very

large doses.  To me,  this was ,the most satisfactory argument for not

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272
using the pulmonary lymph node as critical tissue although the doses




would be in the order of thousands of rads compared to some 15 rads




per year to the average lung.




     So, from step to step, in setting standards, we had to make what




appeared to be rather arbitrary decisions, but we tried to base them




on what the observations are in animals and in man.




     So, for example, with an alpha particle, we would not dare suggest




that you take a dose along the track of alpha particle, even a dose of




a cell through which the alpha particle passes, because it receives




roughly 100 rads.




     So we have to make a decision then.  What body of tissue are we




going to take?  Some decisions are poor; we hope that most of them




are decisions that we and our grandchildren are about to live with.




     I do not believe at this present time that we have enough infor-




mation to accept a radiation protection standard based on the localized




dose, as we defined it, hot particle implanted in tissue.




     I do believe, though, that there is good evidence that plutonium




in bone in very small quantities leads to very high incidence of tumors.




Why you do not get similar results when plutonium is contained in hot




particles in the lungs, to me, remains an unanswered question.




     I think that there are really other unanswered questions besides




the hot particle problem, but I certainly do not believe that there is




sufficient evidence to reduce the permissible exposure levels for plu-

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                                                                         273
tonium in the lung or the body burden on the basis of the evidence that




we have today.




     At this time, maybe you would like to comment?




     Dr. Tamplin:  I understand what you are saying.




     I have a philosophical problem with that,  though, and that is by




not setting the standard, you in effect set one.   In other words,  by




saying that there is not enough information available at this time to




set a standard for hot particles, you are in effect setting a standard.




     I guess what you are really saying is that you do not feel that




any changes you have made because of hot particles would be significant.




Therefore, you do not feel compelled at this time to set a standard for




them because in your gut you feel that such a standard would not be




very different from the one that exists today because, in effect,  by




not setting one, you are setting it, it seems to  me.




     Dr. Morgan:  Of course, I do not speak for the International




Committee, but I think their response might have  been for some unknown




reason, the risk when plutonium in past specific  activities localized




in the skin of animals, and at least one case in  man, the risk seems to




be rather large in skin.  But this does not seem to be the case in the




lung because, as Dr. Radford pointed out,  the tissues behave




differently.  There seems to be some difference there which at least




I do not understand.




     On this account, then, they feel it is satisfactory to continue




the present practice of averaging the dose, not only of the hot

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274
particle, but also that delivered from the plutonium contained in




the lymph nodes over the entire lung.




     Dr. Tamplin:  It does not seem like there is any comment I can




make on that.




     We made our proposal and submitted our petition.  As I say, there




are certain philosophical aspects of this which, personally, my gut




feeling says that these hot particles may represent an undue hazard.




     Hopefully, what will happen now is more information will be




brought to bear on the subject, so that another 30 years from now we




would not be talking about the Chalk River conference which was 30




years ago.




     It seems to me that as we look at what is potentially going to




happen, the rapidly expanding plutonium industry, that we have to come




to grips with the problem today because if you do have the industry, it




has to be designed around certain exposure standards so that the idea




that you can wait another ten years, I do not think that is true.




     Some decisions relative to this have to be made right now.  The




decision may be that Dr. Cochran and I are greatly overestimating the




risk and the existing standards are apt.




     Dr. Morgan:  Or it might be that 30 years from now, when we




reconvene here, that we will have discovered that the real problem




with plutonium in the lungs is that it localizes in large measure in




the lymph nodes which serve as reservoirs.





     Then you have leakage to the skeleton and the liver and here is

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                                                                       27o
cr
the problem of chronic  environmental exposure.




     Dr.  Mills:   Let  me thank you very much, Dr. Tamplin and Dr. Cochran,




for this  time.
        Next  on  the agenda, we have speakers from the Atomic Energy




   Commission.




        Heading  this group will be Dr. Jim Liverman.  If any of you




   have  written  statements, it will help the reporter.

-------
                                    - 1 -
    276
                           Introductory Testimony
                            by James L. Liverman
                 Assistant General Manager for Biomedical and
                  Environmental Research and Safety Programs
                       U. S. Atomic Energy Commission
                          Washington, D. C.  20545
                     par't of the AEG presentation at the
                      EPA Plutonium Standards Hearings
                  Washington, D. C,, December 10-11, 1974
     My name is James L. Liverman.   I am Assistant General Manager of the

Atomic Energy Commission with responsibilities for biomedical and

environmental research, waste management, and safety programs.   I will

provide introductory testimony and  will be followed by members  of AEC

and contractor staff who will provide more specific and detailed testimony.

Mr. Lester Rogers, who will represent the regulatory and licensing activities

of the Atomic Energy Commission, is scheduled to testify tomorrow.

     It is our understanding that these hearings are being held to gather

information relevant to EPA's intention to evaluate whether new guidelines

and standards are needed to assure  adequate protection of the environment

and public health from potential contamination of the environment by radio-

nuclides of the transuranium elements.  Judgments by EPA regarding new

guidelines and standards for transuranic elements will influence development

of nuclear energy to help meet nationwide energy needs, national security

programs, and other matters of substantial importance to our society.

     Public concern regarding the manufacture and use of transuranium

elements is, I think, based on several facts.

1.  Increasing quantities  of the transuranics are being produced, and the

    rate of production will increase substantially in the foreseeable future

-------
                                     ~~                                 277
    as nuclear fuels provide a growing fraction of our national energy
    requirements.
2.  Several radioisotopes of plutonium and other transuranic elements have
    exceedingly long half-lives and, once released, will persist and accumulate
    in the environment for time periods extending over many human generations.
    This is, of course, also true for some naturally occurring alpha-
    emitting radioisotopes such as those of radium and uranium.
3.  These naturally occurring alpha-emitting radioisotopes are known to
    produce cancer of the lung, bone, and liver in humans exposed to large
    concentrations.
4.  Comparable concentrations of alpha-emitting transuranic elements are
    known to produce cancer of the lung, bone and other organs in experi-
    mental animals.
     These facts make it clear that, in operations involving the production
and use of transuranic elements, bioenvironmental health and safety considera-
tions are necessarily of primary concern.  This point was recognized at the
very outset of the nuclear age -- when some of the first plutonium made
was turned over to biomedical investigators.  Since that time (in 1944)
bioenvironmental and control technology programs have proceeded in parallel
with and have guided engineering development of the nuclear technology.
More than thirty years of research and development have produced a sub-
stantial fund of knowledge and understanding regarding the health and
safety aspects of operations involving the production and use of trans-
uranics.  Through application of this knowledge, experience, and under-
standing, it has been possible to establish health and safety (radiation
protection) procedures which have permitted many thousands of kilograms of

-------
    278                            '3-



plutonium to be produced and processed,  and we have yet  to identify




successfully a major health consequence  attributable  to  its radiotoxicity.




This record contrasts sharply with that  for the  commercial use of radium




earlier in the century where manufacture and  use of a few grams resulted




in extensive occupational exposures and  many  cases of cancer.




     I would like to make five points regarding  the setting of standards,




criteria, and guidelines for the transuranium elements and comment briefly




on each.




1.  Meaningful judgments on the adequacy of current standards and guidelines




    must be based in part on the knowledge  and understanding acquired in




    the course of nuclear development including  the research in the




    life sciences.  This knowledge is extensive; it cannot be presented,




    evaluated, or even adequately summarized  in  a few days.  It is, however,




    available to all, and specific measures have been taken to assure




    accessibility and to expedite wide dissemination  of  this information.




         For example, Nuclear Science Abstracts  (NSA)  contains well




    over 10,000 references on all aspects of  the physical, chemical,




    environmental, and biological properties  of  plutonium and other trans-




    uranic elements.  RECON - a computerized  bibliographic searching




    system -- permits rapid access to NSA and other bibliographic data bases




    from terminals dispersed widely through AEG, its  contractors, other




    Federal agencies, and some universities.




         There are in addition to this broad  bibliographic base a number




    of specialized information centers relevant  to the collection, dissemina-




    tion, and evaluation of information  on  the  transuranic elements.  These




    include the data base on comparative metabolism of plutonium maintained

-------
                                       4 "                                279




    at the Comparative Animal Research Laboratory of the University  of




    Tennessee and the environmental plutonium data base, the Information




    Center for Internal Exposure,  and the Nuclear Safety Information Center,




    all located at Oak Ridge National Laboratory (ORNL).  ORNL  also  maintains




    direct access to the "Tox-line" and "Med-line" systems and  computer




    information systems of the National Library of Medicine.




          To have another example,  scientific meetings  provide  an  important




    opportunity for information exchange.  In 1974 alone,  five  meetings




    devoted to (i) the biological  effects of internally deposited  alpha-




    emitters, including the transuranium elements, (ii)  plutonium  in the




    environment, and (iii) radionuclide carcinogenesis  have been held this




    year (at Los Alamos, Richland,  Seattle,  Alta, Utah,  and Las Vegas).




    Proceedings of these meetings  are published in the  AEC Symposium series




    or by the sponsoring laboratory.   Meetings of professional  societies




    also provide opportunities for  exchange  of scientific  information.




    Numerous international meetings on the environmental and biomedical




    effects of the transuranics have been sponsored by  the International




    Atomic Energy Agency.




          Finally, there are monographs on this subject, an instance of




    which is the recently published volume of the Handbook of Experimental




    Pharmacology entitled, "Uranium,  Plutonium, Transplutonic Elements."




2.  The next point I wish to make regarding  the setting of standards




    relates to those organizations  independent of government  which have




    played ari essential role in the analysis of much of the relevant

-------
  280
    biomedical and environmental information and in the development  of




    the standards, guidelines,  and general  procedures which  are  currently




    used for the nuclear industry.  It  is essential that the objectivity




    which these organizations represent continues to be involved in  this




    process.




          These organizations include the United Nations Scientific  Committee




    on the Effects of Atomic Radiations, the IAEA,  the  International Commission




    on Radiological Protection (ICRP),  the  National Council  on Radiation




    Protection and Measurements (NCRP), and the  National Academy of  Sciences




    (NAS) through its various committees.   All of these address  themselves




    to the analysis and evaluation of pertinent  data.   More  so than  the




    others, the ICRP and NCRP are involved  in the development of radiation




    protection criteria and standards.   From time to time these  organizations




    consider special issues such as the "hot particle"  issue now under




    consideration by a committee of the NAS.




3.  Judgments regarding the adequacy of current  guidelines and standards




    need to be based on evaluation of the results of their application to




    specific development and operational activities and in regulation.




    Particularly in the case of plutonium already in the environment the




    establishment of additional "generally  applicable"  standards may not be




    as effective an approach to cost-effective control  of radiation  hazards




    as can a case-by-case analysis based on current standards and guidance.




    Our experience suggests that in such situations specific circumstances




    such as physical and chemical form   of  the material, climate,  and




    current and projected land use are  highly variable  and site  specific.




    Each of these circumstances may exert an important   influence on the

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                                     -6-                                281



    practicability, including cost-effectiveness,  of alternative




    remedial actions.  Since the number of contaminated sites  is




    likely to remain small, it might be more effective to deal with



    these situations on a case-by-case basis using current standards




    than to attempt to develop additional standards and guidance generally




    applicable to all of them.



          If additional guidance is  developed for  this purpose,  it  would




    be essential that it include the flexibility required to assure




    effective application in widely  varying circumstances.




4.  Despite the citation in Point 1  of thousands of references,  information




    on the biomedical and environmental behavior of plutonium  and other




    transuranics is not complete. It is not likely to ever be complete.




    We need to know that it is adequate to assure  safety in current and




    future activities and we need to identify specific areas where  increased




    understanding is likely to have  the greatest impact on specific develop-




    mental, operational, and regulatory decisions  so as to focus our




    research there.




          We do wish to point out, however,  that there are much  greater



    deficiencies and uncertainties in data that  would permit assessment of




    the environmental and health impacts of alternative energy sources




    leading one to the conclusion that major efforts are still required




    in all energy forms.




5.  The AEC has a major research program on the  biomedical and environmental




    aspects of the transuranics. This program focuses on those  areas where




    additional information is most likely to critically influence develop-




    ment programs, operations, and regulations.

-------
282                             -7-






       We continue to support research on various  species of




 experimental animals exposed to transuranic  elements  in various




 forms.  A major portion of efforts  in this area focus  on determining




 the consequences of inhaling small  quantities  of  aerosolized  transuranics




 and quantitating the effects of aggregation  of alpha  activities  into




 "hot particles."




       We continue observations on humans exppsed  to plutonium more




 than twenty-five years ago and we are expanding the Transuranium




 Registry of potentially exposed occupational workers.




       In the environmental area we  continue  observations on the




 behavior of transuranic elements dispersed globally by weapons testing




 and studies of the behavior of plutonium in  the quite  diversified




 environments near weapons test areas  in the  U.S.  and  the Pacific and




 around operating facilities in the  U.S.




       The aim of this research is to  reduce  the need  for conservative




 and possibly very costly assumptions  by providing the  information needed




 to make more realistic estimates of potential  health  and environmental




 hazards of transuranium elements.  The results of this research  are




 published regularly and are accessible through the various routes I




 mentioned earlier.




       Increasingly, in anticipation of ERDA, we are integrating  research




 activities in this area with research on the environmental behavior




 and potential health consequences of  pollutants from  alternative energy




 sources so that we will be better equipped to  assess  bioenvironmental




 aspects of alternative energy technologies so  as  to help orchestrate

-------
                                                                       283

their development and to provide a sound basis  for  operating and

regulating these technologies as they are installed.


      Mr. Chairman:  I realize these comments have  been all too

brief but they will be expanded in major ways to  cover  in  detail

much of what I have alluded to during the course  of the afternoon

and tomorrow morning.  If I could simply introduce  those who will

participate with me at this point and in the order  in which they

will appear, I could remain quiet as we proceed;

      Dr. Yoder, AEC's Div. of Operational Safety will  discuss
        Source Terms and Control

      Dr. Ed Wrenn, followed by Dr. B. Bennett, will discuss
        Environmental Levels of the Transuranics

      Dr. W. J. Bair, Battelle Northwest Lab, will  discuss
        Transuranics in Experimental Animals

      Dr. W. W. Burr, Deputy Director, DBER AEC,  will talk
        concerning Human Exposures

      Dr. Chet Richmond formerly of Los Alamos  Lab  but  now
        with Oak Ridge National Lab will discuss  Biomedical
        Effects in Humans

      Dr. Roy Thompson, Battelle Northwest Lab, will finally
        discuss Implications with Regard to Protection  Criteria

-------
284
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-------
286
     Dr. Mills:  Thank you.  Did you want to respond to questions now?




     Dr. Liverman:  I will be happy to take any questions the panel




may have, or you might like to wait until after the other speakers;




I will leave it to you.




     Dr. Mills:  I think Dr. Taylor has a question.




     Dr. Taylor:  This morning, Dr. Sagan mentioned, and you mentioned




again in your testimony, the desirability of including flexibility in




the standards.




     The very thought of flexibility appeals to me, but any time we




have in the past tried to make anything flexible,  we get our ears




beaten back by the regulatory people, or the cities, or the states.




     I wonder if you have some bright ideas as to  how we can make




some flexible standards?




     Dr. Liverman:  I am not sure that I do.  I was rather intrigued




with something Dr. Sagan was proposing regarding the issue, but I




have no special way that one can approach this matter.




     It just seems from a sort of layman's standpoint that if you




are in a wide open country and there is nobody around, the issue is




not quite as critical as it is if you were in the  middle of the city.




     How one achieves that becomes almost a specific, localized




activity subject to change as time goes on.  As we heard from the




General Electric man, and I happen to agree with him, it is very




difficult to engineer a changing regulation into a system.




     I really have none.




     Dr. Taylor:  This low as practicable concept  was centered about

-------
                                                                          287
 flexibility, but it  is being made as rigid as a dead man.




     Dr. Liverman:   I have no particular  solution.




     Dr. Radford:  I have a comment, Mr.  Chairman.




     I would like to know, is it the intent of the AEC panel to




 complete their  testimony within an hour?




     Dr. Liverman:  No, sir.  We had never intended or felt that




 could be done.  We had, in fact, I believe, requested of the EPA




 at the time we  submitted our testimony that it would take perhaps




 as much as four hours.




     We are not acting as a panel.  They  are independent and separate




 papers.  There are five different groups  of paper.  They could have




 been listed as  individuals.




     Dr. Radford:  I specifically raised  this question this morning




 because I was a little concerned looking  at that list and knowing




 some of the technical expertise that is represented.




     Do you want to make a ruling on that?  The question is are we




 going to have any time for questions this afternoon?




     Dr. Mills:  The schedule that we established was based upon




 the fact that the response that we got to the Federal Register in




 the case of the Atomic Industrial Forum,  they specifically stated




 that they would have a panel discussion and that would be 60




 minutes.




     In the case of the Atomic Energy Commission, they did not




 propose this whole listing as a single panel.   I would suggest that




we would allow the Atomic Energy  Commission their requested time,

-------
288
 which was four hours for this particular aspect.




      We also recognize that we will not get through this afternoon.




 Therefore, we will at some point in time, when it seems to be that




 we have covered a particular topic, we will adjourn until tomorrow




 morning.




      Dr. Radford:  It is the intent, then, to question each one of




 the speakers after his presentation?




      Dr. Liverman:  Dr. Radford, in discussing it with Dr. Mills, it




 is perfectly permissible to question Dr. Yoder after his presentation.




      The next two speakers, you should hear them both through before




 the questions.




      Dr. Bair is operating essentially alone; then, Dr. Burr and




 Dr. Richmond are a pair; and Dr: Thompson is a single.




      I would suggest that you question them in that order, but the




 Chairman is the man who decides this issue.




      The topics in the order I have given them to you are closely




 interrelated.




      Dr. Radford:  If I may make a suggestion:  In the interest of




 not turning us off before we are through here, would it be possible




 that the speakers would depart from their written testimony and




 emphasize the highlights and shorten their presentations?




      I am not trying to throttle them, but I think that many of the




 issues will come out in the discussion.  I think, perhaps, one of




 the things that may be apparent to the audience is that it is in




 the questioning that we begin to get at the nub of some of these

-------
                                                                          289
issues.




     The formal presentations can be shortened down to give the




highlights.  The only other alternative I see, frankly, is to go




on into an evening session.




     Dr. Liverman:  Of course, since I am through, I can say yes.




But I think the thing for us to try to do is to summarize our




comments.




     Dr. Mills:  The agenda for tomorrow afternoon is lighter.  We




may be able to make up for some of the time we lose today, so I




would not propose that we go into the evening hours in trying to




address this.




     However, I would say that some attempts could be made to




summarize the comments, as Dr. Liverman has suggested.  Then we




would ask questions in terms of specific topics as shown under




the AEG portion of the agenda.




     Dr. Radford:  I am concerned, frankly, that we not be running




so late that Dr. Tamplin's presentation will be thereby curtailed,




if not by pressure of the time, by pressure of the fact that people




start to leave.




     So I think it is very important that we have plenty of time




available for questioning Dr. Tamplin at length just as we hope




we will have time to question the AEG representatives.




     Dr. First:  Would it be possible to start tomorrow earlier




and cut tomorrow's lunch to an hour?




     Dr. Mills:  Dr. Tamplin is scheduled for tomorrow afternoon,

-------
 290
so I think we have sufficient time to  get  him  on  tomorrow after-




noon without shortening his presentation.




     In spite of the time frame,  for the benefit  of  the reporter




who has to keep all of this going into her machine,  let me call




for a ten minute recess until she has  time to  catch  her breath.





     (Brief recess.)





     Dr. Mills:  We will resume the hearing.




     Our next speaker is Dr.  Yoder.

-------
                                    -i3 -                                    291
                 Potential Source Terms and Control Measures
                       by Robert E. Yoder,  Jr., Ph.D.
                  Assistant Director for Facilities Safety
                       Division of Operational Safety
                       U. S. Atomic Energy Commission
                           Washington, D. C.  20545
                       part of the AEC presentation at
                       EPA Plutonium Standards Hearings
                   Washington, D. C., December 10-11,  1974
Introduction
     The information presented in this discussion will include the current

sources of transuranium materials within the Atomic Energy Commission (AEC)

operations, an indication of projected inventories, and an overview of

control measures taken to reduce effluents.  This is not intended to be

an exhaustive review of the subject matter, but to highlight the AEC

actions in managing its transuranic materials operations.  Specific

information regarding the location and quantity of material which has

been released to the environment will be presented later.

     There have been releases of plutonium and these have been well pub-

licized.  The quantities of materials involved in these instances have

ranged from much less than one to a few kilograms of material, and steps

have been taken to reduce the accident potential in AEC operations.  A

comparison of the quantities released to the quantities in use shows that

a very small amount has been released in accidents.  Routine emissions

are now very low and still decreasing.  Because the AEC is concerned

about environmental discharges and any attendant buildup in the environment,

it is fully implementing the "as low as practicable" concept.  For

example, if our routine emissions continue at the present levels by the

-------
 292





year 2000 less than 3 additional curies of plutonium will be  discharged




to the environment, compared to the kilocurie quantities  already present




from atmospheric weapons testing.  The intensive environmental  sampling




program which quantifies the amount of plutonium in the environment and




its specific location in identified pathways provide confirmation that our




control programs are effective.  Information developed in this  program will




be available and analyzed well before a potential problem exists and will




allow ample time to take effective action.




     In those instances in which environmental cleanup actions  have been




required, specific measures tailored to the specific site have  been used.




Because the number of the cases is very small, they are best  handled on a




case-by-case basis so that a comprehensive evaluation can be  made to




effectively limit the availability of these materials.




Cost-Benefit




     The AEC uses plutonium or handles plutonium in three broad program




categories:  national defense, energy research and development, and




service to other agencies and private industry.  The benefit-risk analyses




with regard to each of these areas is developed along separate  lines of




reasoning:  (1)  The executive and legislative branches of the  government




have established the benefit-risk associated with a viable national




defense program which requires plutonium for its development  and main-




tenance.  The AEC produces and manufactures plutonium components for use




by the Department of Defense.  Also, as required by the Test  Ban Treaty,




the AEC maintains a viable nuclear development and test program.  (2)  The




current energy situation has brought into focus a number  of elements per-




tinent to the risk-benefit of plutonium reactors as sources of  electric

-------
                                     -15'                                   293



power.  The AEC conducts the research and development necessary to support




the industry options to use these reactors for electric power production.




(3)  Service functions are associated with the development of nuclear




radioisotopic thermoelectric generators which are manufactured by the AEC




for agencies who themselves have developed the risk-benefit analyses  supporting




their use.  In this case, the AEC merely supplies the material in a form




suitable for the specific program use.  As an additional service function,




the AEC provides the burial facilities or interim storage facilities  for




transuranic materials.




     In June 1973 the AEC began the preparation of an environmental impact




statement for the overall Liquid Metal Fast Breeder Reactor (LMFBR) pro-




gram (WASH-1535) as required by the National Environmental Policy Act (NEPA).




The environmental impact statement, now in the final stages of review




prior to release, differs from the conventional statement because it




addresses the important environmental and societal impacts from the assumed




eventual commercialization of LMFBRs which are expected if the research




and development goals are attained rather than the impact of the research




and development activities.  It was necessary, therefore, to look ahead




some 40 to 50 years to foresee an LMFBR industry that would provide about




40 percent of the total installed electric generating capacity in the




United States by the year 2020.




     The direct costs include LMFBR development program costs and those




costs normally imbedded in the price of electrical energy.  Over 70




separate postulated cases were considered in estimating United States




electrical power production costs over the period 1974-2020.  One of the





major quantifiable conclusions of the direct economic analysis was that

-------
294





the introduction of a fast breeder into the United States electric power



utility system will produce significant financial benefits.   These benefits



result largely from a reduction in uranium ore and enrichment requirements.



Additionally, the fast breeder results in a nuclear power industry that



will have total power costs, in constant dollars, that decrease with time.



Capital requirements accumulated to the year 2020 are estimated to be



about 10 percent less with a fast breeder industry due to the reduced



requirement for mining, milling, and enrichment facilities.



     Indirect benefits, though no less significant, come partly from the



improved resource utilization.  The use of plutouium as a reactor fuel for



electric power production would free the finite resources of fossil fuels



for their optimum use, thus assuring the domestic availability of fuel



for electric power production for the long term.  A mature LMFBR industry



together with the nonbreeders can generate sufficient fissile material for



the nuclear industry to be able to use stockpiled depleted uranium for



hundreds of years as the sole source of fertile fuel material.



     Other indirect benefits of note are in the cumulative health and



safety effects for both occupational and public groups.



Inventories



     The AEC has produced several tens of tons of plutonium-239 in its



reactors, including several tons of nonweapon grade plutonium, since the



mid-1940's.  In addition, 200 kg of Pu-238, 4 kg of Cm-244,  and 2 grams



of Cf-252 have been produced in the Savannah River reactors.  Additional



quantities of transplutonium elements have been produced in Savannah



River reactors, separated, and refabricated into targets for further

-------
                                                                             295
irradiation as part of the Cf-252 program.
     Plutonium-238 is used principally as power sources for space research,
satellites, and heart pacemakers.  These applications have required about
40 kg of plutonium-238 since 1961.  The requirements for specific applications
through FY 1986 project a need of about 540 kg of plutonium-238.   Since
1961 the United States has launched radioisotope thermoelectric generators
containing 34.7 kg of plutonium-238.  Of this quantity, 13 kg are on the
lunar surface, 6.8 kg are in long-lived earth orbit, and 9.4 kg have been
ejected out of the solar system.  One kg was released to the earth's atmos-
phere in a reentry burnup (as designed), 2 kg of encapsulated material
were recovered from the Santa Barbara Channel following a missile abort,
and 2.5 kg impacted intact (as designed) in the South Pacific Ocean following
an aborted lunar mission.  No plutonium-238 was released from the latter
two incidents.
     Small quantities of plutonium-238 will be required for heart pacemakers.
A potential equilibrium number of 170,000 of these devices will be needed
in the United States by the year 2000.  The total quantity of plutonium-238
required ranges from 25-75 kg.  Several companies at present are  licensed
to implant these devices and an equilibrium implant rate of 10,000 per year
is expected to be reached in the early 1980's.
     The major increase in plutonium inventory is anticipated to  be that
associated with commercial nuclear power reactor activities which are
projected to have "on-hand" a potential commercial plutonium inventory
of 117,000 kg in the year 2000.  Reactor research and development program
annual plutonium requirements are projected to vary in the range  of 500-
2,500 kg over the next 10-year period.

-------
 296                               ~18"



     The types of operations in the AEG  involving plutonium include  its




production in reactors at Savannah River and Richland,  chemical processing




to separate plutonium from uranium and fission  products,  reduction to  the




metal, casting, machining, and other metallographic  operations.   In  addition,




scrap material is processed for recovery of  plutonium by  incineration,




digestion, precipitation, and solvent extraction.  Plutonium also is




removed from liquid effluent streams by filtration and  precipitation to




reduce the volume of material which must be  sent  to  waste handling and




storage facilities, and to reduce the quantity  present  in waste streams.




The AEG also manufactures experimental fuel  elements containing plutonium




and operates reactors containing plutonium fuel elements, such as the




EBR II.  Waste material from all AEG operations is placed in retrievable




storage if the plutonium or transuranic  material  concentration in the




waste is in excess of 10 nCi/g.  A proposed  rule-making would cause  all




commercially generated transuranic waste in excess of this limit  to  be




sent to AEC storage sites pending the development of a  final repository




(Federal Register, Volume 39, September 12,  1974).   In  the execution of




these programs the AEC engages in the transportation of radioactive




materials in interstate commerce.  However,  this  material is safeguarded




as appropriate to the type and quantity of material, and  the associated




potential hazards.




     The quantity of transuranic materials now stored or  buried at AEC




sites totals about 950 kg contained in approximately 1  million  cubic




meters of material.  This material is located in  burial grounds at  the




Idaho National Engineering Laboratory, Idaho; Richland, Washington;

-------
                                   - 19 -                                    297



Savannah River, South Carolina; and Oak Ridge, Tennessee.  The characteristics




of transuranium-contaminated waste will change as the breeder reactor pro-




gram develops and will require the storage not only of transuranic




materials, which are primarily alpha emitting materials, but also trans-




uranic materials contaminated with gamma activity in fuel hulls which




contain induced radionuclides and fission products.  The assessment of




projected quantities of transuranic wastes expected by the year 2000 is




presented in Table 1.




Emissions




     A concerted effort to accelerate the reduction of all emissions of




all radioactive materials from AEG operations was initiated in 1970, in-




cluding a program to quantify all past releases from AEC facilities.




Figure 1 summarizes the total plutonium release data from all AEC sites having




significant releases for the years 1967-1973.  Figures 2 and 3 provide a




breakdown of these data to show the quantities released via air and water.




The important point to note is that the releases from all sites have been




approximately 1.5 Ci over the 6-year period.  From our operational experience




and the improved control measures at all facilities, we anticipate that




AEC releases will not exceed, through normal discharge systems, 0.1 Ci/yr



from all operations from all sources.



     In 1973, 0.053 Ci of plutonium and approximately 0.002 Ci of other




transuranics were released offsite.  In the same year approximately 100 Ci




of plutonium and approximately 0.1 Ci of other transuranics were released




onsite to treatment and disposal systems such as seepage basins.  The

-------
   298                             -  20  -




composition of the 1973 onsite releases is shown in Table 2.   The largest




component of this discharge occurred at Richland, however,  this  operation




has been sufficiently modified so that  no  plutonium has  been  discharged




to date during CY 1974.  We anticipate  that  in CY 1974 less than 1 Ci will




be discharged onsite from all sources of plutonium at all AEG sites.




These reductions should be viewed with  the fact in mind  that  much larger




quantities have been discharged onsite  in  the past.  The impact  of the




releases and a full assessment of their significance in  the environments




surrounding AEG facilities is available in WASH-1259.




Control Measures




    An intensive reevaluation of the AEG handling of plutonium was initiated




following the 1969 Rocky Flats Plant fire.  All plutonium operations  and




storage facilities were surveyed and new safety criteria developed for




these operations.  Because the new criteria  addressed in detail  areas not




previously highlighted, there are certain  modifications  which cannot  be




undertaken in present facilities, particularly regarding natural phenomena




(tornado, earthquake) protection.  However,  in these cases additional safe-




guards and alternate protection has been provided.  Plutonium operations




are being conducted in glovebox and/or  canyon facilities, which  provide at




least three barriers (e.g., glovebox, operating compartment,  and outer




facility walls) between the operation and  the outside environment. Where




possible, inert atmospheres are used to reduce the potential  of  fire.




Fire protection is provided through the use  of sprinkler systems and,




in some cases, inert gas protection. Firebreaks and operation compart-




mentalization are used to limit the extent of any incident.  At  least

-------
                                     ~21~                                    299
three high efficiency air cleaning devices are required between plutonium
operations and the outside environment.  This criteria is being met
through the use of three or more stages of high efficiency filters or two
stages of high efficiency filters in addition to a sand filter.  To
provide assurance for the control of plutonium in the event of a postulated
accident, emergency power and protected, isolated emergency control rooms
are available.  A formal safety analysis report requiring AEC approval
must be written for all new plutonium operations.  These safety analysis
reports critically review every operation, every control measure,  and every
interaction between operations and controls to avoid a possible loss of
control.  To date over $210 million for construction has been committed
to upgrade or replace existing facilities.  A significant sum has  been spent
also in accomplishing a myriad of small projects.
     The AEC has always operated under the "as low as practicable" philosophy
with regard to the release of any radioactive material to the environment.
However, values associated with "as low as" have continually decreased
with increased operating experience and improved control technology.  Every
transuranium operation has been reviewed recently and additional safeguards
installed to reduce effluents to the lowest level that is economically
possible.  At the Rocky Flats Plant, for example, a water treatment plant
to clean and permit the reuse of process water is scheduled for FY 1977
in order to minimize the quantity of potentially contaminated waste water
which is discharged from that site.

-------
  300                              - 22 -





     The plutonium-238 encapsulation operation at the Mound Laboratory is




being transferred to an upgraded plutonium facility at the Savannah River




Plant.  By 1980 primarily only encapsulated plutonium-238 material will




be handled at Mound Laboratory.  This program will restrict the availability




of unencapsulated material and reduce significantly the release potential




of plutonium-238 oxide as well as minimize the quantity of waste material,




and the number of shipments required.




Accidents




     The release of plutonium and other transuranic materials in decreasing




order of quantity are associated with:




1.  atmospheric weapons testing;




2.  weapons tests at the Nevada Test Site;




3.  accidents—both from military operations and AEG plant operations; and




4.  effluents from normal discharge waste streams.




     The major plutonium releases associated with AEC plant operations




have occurred at Oak Ridge, Rocky Flats, Richland, and Mound.  The total




quantity involved amounted to a few tens of curies, which represents a




small fraction of that in process.  In each of these areas intensive




environmental survey programs are underway.




     An analysis of three accidents associated with military operations is




provided in the supporting documentation.  The important element in the




cleanup actions for these accidents is the careful analysis of the signi-




ficance of any material not removed.  The experience we have gained from




these accidents has led to an enhancement of our capability to survey and

-------
                                     - 23 -

cleanup accident sites.  Portable monitoring instrumentation useful for
                                                 2
onsite surveys provides a sensitivity of .1 p,Ci/m  of plutonium on the soil

surface.  An aerial monitoring program using sensitive radiation monitoring

instruments and helicopters, allows the survey of large areas with a
                        2
sensitivity of 0.3 ^Ci/m .  This survey technique allows operation at 100

feet altitude above the ground surface and at an air speed of 60 knots.

Analytical analyses for plutonium in environmental samples provide assess-
                                                             -5      2
ments such that we can determine plutonium at levels below 10   u£i/m .

Now a number of AEG laboratories have a proven capability to process,

specifically for plutonium, soil or vegetation samples with this sensitivity.

The limit of sensitivity in these cases is limited by the quantity of

material which one can manipulate in the chemical processes and the capability

to analyze a large number of samples, such as may be required in an

accident situation.  The accidents which have occurred were in quite different

environments and required very different techniques for cleanup.  As a

matter of course one removes all radioactive material which is practical to

remove and which poses a potential significant source of exposure.  The

techniques which can be used include excavation, plowing, and fixation.
New techniques to fix plutonium to reduce its movement prior to cleanup
are under development.  The guidelines which can be used for the cleanup
levels must be specifically set at each site because the pathways for
human exposure and ability to cleanup will vary from site to site.  The

situations which occurred at Palomares, Spain; Thule, Greenland; Rocky

Flats, Colorado; the Nevada Test Site; and Enewetak Atoll are all unique.

No two have the same problems nor do they appear at this time to be

amenable to the same cleanup techniques.   The quantity of plutonium involved
301

-------
    302
- 24 -
in any accident represents a very small fraction of the quantity of that




material in the inventory, and the quantity left after cleanup is even




smaller.




Summary




     There have been releases of plutonium and these have been well




publicized.  The quantities of materials involved in these instances have




ranged from much less than one to a few kilograms of material, and steps




have been taken to reduce the accident potential in AEG operations.  A




comparison of the quantities released to the quantities in use shows that




a very small amount has been released in accidents.  All routine emissions




are now very low and still decreasing.  Because the AEG is concerned about




environmental discharges and any attendant buildup in the environment, it




is fully implementing the "as low as practicable" concept.  For example, if




our routine emissions continue at the present levels by the year 2000 less




than 3 additional curies of plutonium will be discharged to the environment




compared to the kilocurie quantities already present from atmospheric




weapons testing.  The intensive environmental sampling program which quantifies




the amount of plutonium in the environment and its specific location in




identified pathways provide confirmation that our control programs are




effective.  Information developed in this program will be available and




analyzed well before a potential problem exists and will allow ample time




to take effective action.




     In those instances in which environmental cleanup actions have been




required, specific measures tailored to the siatuion have been used.  Because




the number of the cases is very small, they are best handled on a case-by-case




basis so that a comprehensive evaluation can be made to effectively limit




the availability of these materials.

-------
   1000

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                                           - 25 -
                                   RELEASES OF PLUTONIUM OFFSITE
                                              J

                                                                            fl
          1967     1973   1967     1973   1967      1973    1967    1973   1967     1973
              TOTAL           SR           MOUND          LASL       ROCKY FLATS
                                                                                             303
                                            Figure 1

-------
304
- 26  -
  1000

  800
                           AIRBORNE RELEASES OF PLUTONIUM OFFSITE
  600
   400
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   100


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         1967     1973   1967    1973   1967    1973   1967     1973   1967    1973
            TOTAL          SR         MOUND          LASL      ROCKY FLATS
                                        Figure 2

-------
1000




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 600 -








 400 -
                                        - 27  -
                             LIQUID RELEASES OF PLUTONIUM OFFSITE
                                                                                        305

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                     - 29 -
                                                              307

                     TABLE 2
            AEC TRANSURANIC RELEASES
                     CY 1973

           Onsite Discharges  (rounded)
Plutonium                            100      Ci
Curium                                 0.10   Ci
Other transuranics                      .001  Ci


               Effluent Discharges
Plutonium                              0.053  Ci
Americium                              0.001  Ci
Curium                                  .000^ Ci
Neptunium                               .0005 Ci

-------
                                   - 30  -
308
                                  TABLE 3

                            CONVERSION FACTORS
                    Plutonium-238          17 kCi
                                           kgm

                    Plutonium-239        .063 kCi
                                             kgm
                                        8l.8 kCi
                                             kgm
                    Californium-252        539 Ci
                                              gm

-------
           - 31  -
309
SUPPLEMENTAL INFORMATION

-------
       310                          -33-


            DIVISION OF BIOMEDICAL AND ENVIRONMENTAL RESEARCH

            Potential Plutonium Source Term for Medical Uses


Radioisotope-Powered Cardiac Pacemaker

1.  The purpose of the AEG program is the demonstration that technology
    exists which will permit the production of nuclear-powered cardiac
    pacemakers which will, with great confidence, substantially improve
    upon the reliability and lifetime capabilities of presently avail-
    able chemical battery-powered pacemakers.

    The 197^ pacemaker population is approximately 126,000 world-wide.
    The potential U.S. nuclear pacemaker market is estimated to be 10,000
    per year with an equilibrium number of 170,000 in the U.S. population
    in the year 2000.

    The primary environmental implications are from radiation during normal
    use and from potential exposure to fuel following a breach of the capsule
    and a release of the fuel to the environment-.

    The benefits of a long-lived nuclear pacemaker are direct functions of
    minimizing the number of reimplantations during the patients remaining
    lifetime.

2.  Approximately 350 nuclear pacemakers are currently in use in the U.S.
    Three companies are presently licensed to implant 20 units per month
    each.  An equilibrium implantation rate of 10,000 per year is expected
    to be reached in the early 1980's.

    The inventory of plutonium-238 in the nuclear pacemakers ranges from
    140 to 420 milligrams per unit.  Thus, the total plutonium-238 inventory
    for a population of 170,000 in the year 2000 ranges from 24 to 71
    kilograms.

3-  The fuel capsule has demonstrated its capability to survive all the
    safety tests defined by the AEC's "Interim Safety Guide for the Design
    and Testing of Nuclear Power Cardiac Pacemakers" with additional sub-
    stantial safety margins.

4.  Fuel processing losses which are unuseable wastes amount to about
    1  percent of the starting inventory.  For 10,000 units per year the
    plutonium wastes would be in the range of 1S to 40 grams per year.

-------
                                     - 34 -                                311


             THE WASTE MANAGEMENT OF TRANSURANIC SOLID WASTE
Solid wastes of widely diverse nature and contaminated to varying degrees
with heterogeneous amounts and forms of plutoniw are generated in several
AEG facilities.  The radioactivity in such wastes has been confined within
controlled areas of AEC sites by burial in shallow trenches or pits and
since 1970 in easily retrievable containers.  The principal burial sites
include the Richland site, the Idaho Falls site, Los Alamos Scientific
Laboratory, Oak Ridge National Laboratory, and the Savannah River Plant.

The waste matrices in which the transuranic isotopes are contained vary
greatly in their composition.  Normally, they can be segregated into
those which are noncombustible and those which are combustible.  Depending
on the facility, the noncombustible fraction may comprise up to one-half
of the total volume of waste generated, while the combustible portion
includes such things as paper, rags, plastics, rubber, and discarded
clothing.  Table 1 shows the results of a waste composition survey taken
by the Los Alamos Scientific Laboratory.  This table gives an idea of the
tremendous variation in composition of wastes generated by different
laboratories.

Table 2 shows the projected increase in production of transuranic waste.
If current process techniques continue, by the year 2000 approximately
2^4,000 cubic meters of alpha waste will be generated; and an additional
86,000 cubic meters of waste will be generated which has a high gamma
background.  Although these wastes will require much improved treatment
and handling systems, our past experience indicates that release of TRU
nuclides to the environment will be well within AEC guidelines based on
recommendations of the International Commission on Radiological Protection.
Current management programs offer little chance for environmental con-
tamination by transuranics.  Effluent treatment processes which produce
some solid waste materials may lead to limited offsite radioactivity
releases but these are extremely low and must always be within AEC guide-
lines .

Several years ago the AEC reexamined its policy regarding the management
of its own transuranium-contaminated radioactive waste.  Until that time,
it was felt that the remoteness of the burial sites combined with favor-
able geological and hydrological conditions would assure the safety of
the environment from TRU wastes.  However, there exists the possibility
that the status of sites may change as a result of new national prior-
ities.  Also, the quantities of transuranic waste generated are expected
to increase substantially as a result of the generation of nuclear power.
It was decided to limit the outright burial of transuranium-contaminated
waste, and in March 1970, the AEC issued a directive^ requiring its con-
tractors to segregate transuranium-contaminated waste from ncntransuranium-
contaminated waste and to store the transuranics in a manner which would
^'Policy Statement Regarding Solid Waste Burial," USAEC, IAD No. 0511-21,
 March 20, 1970.

-------
312
                                 - 35 -

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- 37 -
permit them to be readily retrieved in a contamination-free condition
for a period of at least 20 years.   This would permit time to develop a
national policy «mich would "be acceptable to the public for disposal of
transuranium-contaminated waste.

The transuranic waste storage site  at the Idaho National Engineering
Laboratory (INEL) at Idaho Falls  is a good example of current practices
resulting from this directive. Here the waste is stored on an asphalt
pad which has a four inch gravel  base.  The surface is sloped to permit
moisture drainage.  The waste is  packaged in 55"gallon steel drums or in
plywood boxes which are coated with fiberglass.  The 55-gallon drums are
currently lined with a 90-mil. polyethylene liner to prevent contact of
the waste with the wall of the drum.  These packages are stacked on the
pad in sections of approximately  150 feet by 80 feet.  Once a section is
full, the stacked waste is covered  with plywood and a plastic sheet and
then mounded over with earth.  Normally a 3-foot space is left between
each section of the pad.  This 3-foot section is filled with earth and
provides a fire-retarding wall.

The volume of transuranium-contaminated waste in the U.S. and the contained
transuranium nuclides is expected to increase greatly in the coming years
as a result of the use of plutonium in the production of nuclear power.
Due to this*projected increase, the Directorate of Regulation* of the AEC
has proposed a change in the Federal Regulations regarding licensee manage-
ment of transuranic waste.  In September 197^-, a notice2 was published in
the Federal Register regarding a  proposed rulemaking which would result in
Federal management of these wastes.

According to current plans, the operating arm of the AEC** would manage
commercially generated transuranic  waste in the same manner as they manage
AEC-generated transuranic waste.   The waste would be placed into 20-year
retrievable storage just as it is at INEL.  The generator would pay a one-
time fee which would cover the cost of all future management.  An environ-
mental impact statements is being prepared by the AEC which discusses
alternatives for waste management in detail and is available in draft
(WASH-1539).
* To become NRC about January 1, 1975'

**To become part of ERDA about January 1, 1975-
n
 "Transuranic Waste Disposal," Federal Register, Vol. 39, No. 178, Thursday,
  September 12, 197^, pp. 32921-32923-
•a
 "Management of Commercial High Level and Transuranium-Contaminated Radio-
  active Waste," WASH-1539, USAEC, September 1971*- (draft).

-------
                                  -  38  -
315
In Table 3 "the total volume of radioactive waste at the major AEC sites is
shown in the first column in cubic meters.  The total quantity of trans-
uranium nuclides oc.rtained in all of this nolle1 vaste is about 950
kilograms.  Of this quantity, roughly 175 kilograms is stored in a
readily retrievable fashion and the remaining 775 kg has been buried.
The volume of waste retrievably stored is roughly 29*000 cubic meters,
and it contains roughly one-fifth of the total quantity of transuranic
nuclides generated to date.

The buried transuranium nuclides at AEC sites and the 80 kg of plutonium
at licensed facilities will require continued long-term surveillance.  The
waste package is not considered to have any integrity after it is buried.
Monitoring and surveillance programs at AEC sites have shown that migration
of the buried transuranics has been negligible.^  However, the wastes will
remain hazardous for an extremely long period of time and one cannot predict
with certainty what, if any, environmental changes will take place during
this time.

In consideration of the long periods of time for which these wastes must
be confined, the AEC is developing hazards analysis procedures to determine
the risk to man and his environment which may result from these wastes in
the future.  Based on these analyses, the AEC will be able to decide
whether it *rill be necessary to remove these wastes from the burial areas.
 "Environmental Monitoring at Major USAEC Contractor Sites," WASH-1259,
  USAEC, August 1973.

-------
316
                                      - 39 -
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-------
                                  - 40  -
                                                                          317
                   SNS PLUTONIUM OPERATIONS
General Program Aspects

For the past 15 years, the AEG has been developing Radioisotope
Thermoelectric Generators (RTG) to provide electrical power for
both space and terrestrial applications.  These devices convert
thermal energy derived from the decay of radioactive isotopes
to electrical energy utilizing the thermoelectric properties of
bimetallic couples.  Several isotopes have been considered as
thermal sources; however, the most desirable one from an overall
system point of view has proved to be Plutonium-238.  The follow-
ing discusses Space Nuclear Systems (SNS) operations utilizing
Plutonium-238 as a fuel form.

A.  Purpose

    The purpose of the Plutonium RTG program is to develop long
    lived, unattended, reliable and light weight power system
    for space applications.

    It is the intent of SNS to develop these systems so as not
    to present undue hazards to operating personnel, to the
    general public or to the worldwide population.

B.  Advantages of Nuclear Systems

    The following are advantages of using nuclear systems for
    space missions:

    1.  With the proper isotope, the system can be designed for
        long life, it can be compact, and it can provide a high
        power to weight ratio.

    2.  In space, it need not be dependent on sunlight or sun
        orientation.  All outer planet exploration missions must
        use nuclear power because of the lack of solar energy.

    3.  A nuclear system is naturally radiation hardened for
        military applications and will withstand radiation
        emitted by planets.

    4.  It can provide both electrical and thermal power any-
        where in space.

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  318                          -4i-

C.  Specific Advantages of Plutonium

    Plutonium-238 provides a specific power which enables  the
    RTG design to meet the advantages indicated above.   Because
    it provides its thermal power from alpha decay,  little
    shielding is required.  Also, because of its reasonably  long
    half-life, no power flattening is required  for missions  as
    long as 10 years.   The oxide of plutonium provides  a reason-
    ably high melting  point which permits the design of space
    systems to preclude Plutonium-238 releases  in thermal  environ-
    ments to which the system may be exposed if flight  aborts
    should occur.

D.  Safety Criteria

    The general safety design objectives of a radioisotope heat
    source and/or its  associated power system components are to
    contain the radioactive materials (the isotope fuel form and
    its radioactive products) and to limit the  interactions  of
    the radioactive materials wich humans and the environment.
    For normal operations, containment and interaction  requirements
    are absolute; for potential accident situations, containment
    requirements are based on probabilistics and are determined by
    a given source term (amount of radioactive  material released)
    and/or the direct external dose to one or more random  human
    receptors.

    Containment and the limiting of interactions between the
    radioactive source, humans, and the  environment  are absolutely
    maintained in normal factory-to-flight and  post  missions
    operations.  The exposure limits for radiation workers,
    individuals and the general public applicable to normal  mission
    operations are those set forth in the Code  of Federal  Regu-
    lations (CFR), Atomic Energy Commission Manual Chapters  (AEC-MC)
    and the International Commission on Radiological Protection  (ICRP),

    In the event of random earth impact  situations,  the safety
    objectives are to locate and recover the nuclear heat  source(s).

    For accident situations, the following recent probabilistic
    criterion is required of the system:  the total  probability
    of releasing one millicurie of fuel  and/or  its daughter
    products or exposing one or more people to  a direct external
    radiation dose exceeding the limits  set forth in the above
    documents should be less than 10"5 per flight, given the
    occurrence of any accident.  For source terms other than one

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                                      -42-                                  319

         millicurie,  scaling the fuel release probability inversely-
         proportional to the source term should be considered.   The
         above probabilistic criteria should be demonstrated at a
         reasonable confidence level ( > 50%) by analysis and/or test.

     E.   Safety Assessment

         Before any nuclear system is used,  it must be reviewed and
         evaluated on the bases of risk to the general public and the
         environment by an Interagency Nuclear Safety Review Panel
         (INSKP) who must submit a Safety Evaluation Report (SER) to
         National Security Council (NSC) for presidential approval
         action.  This INSRP is comprised of experts in the field of
         nuclear system design, launch vehicle design, accident
         evaluations, aerodynamics, thermodynamic, meteorology,
         terradynamics, oceanography, astrophysics, health and safety,
         biology, medicine and others from EPA, NASA, DOD, AEC, NOAA,
         and their government agencies and their contractors.

         The review covers all aspects of possible accidents from
         factory-to-flight including ground  transportation, launch,
         suborbital,  orbital reentry, impact and post impact situations.
         The panel reviews the results of safety verification tests
         which are generally conducted by the systems contractor to
         evaluate the response of the heat source in overpressure,
         launch-pad fires, reentry, impact and post-impact environments.

         A Safety Evaluation Report prepared by the panel provides an
         analysis of the risk to man and the environment based on the
         results of the INSRP review.

         Since the AEC is not the user agency of the nuclear systems,
         it is not responsible for benefit analyses and environmental
         impact statements.  These requirements and the request for
         launch approval are the responsibility of the user agency.

II.  Plutonium Applications

     A.   Current Applications

         The following programs are currently using plutonium or
         contemplate using plutonium in the  very near future:

         1.  Pioneer 10 and 11 - NASA mission of two spacecraft
             to Jupiter which use four RTG's per spacecraft
             (1200 grams each RTG).  Launches in March, 1972 and
             April, 1973.

-------
  320
- 43 -
    2.  Viking - NASA mission of two Mars landing  spacecraft
        which will carry two RTG's per spacecraft  (1200 grams
        each RTG).  Launches are in August and September,  1975.

    3.  LES 8/9 - DOD mission of two satellites to synchronous
        altitude will use two RTG's per satellite  (4.2 kg  per
        RTG).  Simultaneous launch of both satellites on the
        same spacecraft in November, 1975.

    4.  Mariner/Jupiter Saturn (MJS) - NASA mission of two
        spacecraft to sJupiter and Saturn with three
        RTG's per spacecraft (4.2 kg each RTG). Launches  in
        August and September, 1977.

B.  SNS Operational Sites

    The following sites are presently being utilized by SNS for
    their RTG activities:

    1.  Monsanto Research Corp. (MRC), Mound Laboratory,
        Miamisburg, Ohio, provide encapsulated, sealed plutonium
        heat sources for use in all of the programs.

    2.  Launches are from either Kennedy Space Center or Cape
        Canaveral Air Force Station, Florida.

    3.  The AEC's Savannah River Plant at Aiken, South Carolina,
        will begin providing Plutonium-238 fuel forms for the
        space program in the 1977 time period.

C.  Current Plutonium Inventories in  Space

    Since 1961, the AEC has launched 34.7 kilograms of Pu-238.
    Of this amount, one kilogram was released to the earth's
    atmosphere by burn-up during reentry, two kilograms were
    recovered from the Santa Barbara channel after a missile
    abort, two and a half kilograms deposited and  contained in
    the South Pacific Ocean near the Tonga Trench, after an
    aborted Apollo mission, 13 kilograms are on the lunar
    surface, 6.8 kilograms are in long lived earth orbit,  and
    9.4 kilograms have been ejected out of our solar system into
    deep space.

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                                 -44-                                 321

D.  Forecast Inventories at Fabrication Sites

    Plutonium inventories planned at fabrication sites for
    future SNS activities include the following:

    1.  Mound Laboratory - Unencapsulated fuel at Mound will be
        decreasing from about 40 kg at present to zero by FY 1980>
        in accordance with SNS plans to transfer fuel form
        fabrication to Savannah River.  Mound Laboratory
        will continue assembly of heat sources in the future,
        using encapsulated fuel forms supplied by Savannah
        River.  Time-average inventories of this encapsulated
        fuel at Mound Laboratory are expected to approximate
        30 kg/yr by FY 1978.

    2.  Savannah River - Beginning in FY 1977, inventories will
        increase from zero to a time-averaged level approximating
        40 kg/yr, including associated process salvage.

    3.  Inventories in R&D at Savannah River and Mound Laboratory
        will approximate 3 and 7 kg/yr, respectively.  Time-
        average inventories in recovery operations at Savannah
        River may approximate 10 kg/yr.

E.  Future Applications

    Additional Viking missions to Mars are planned by NASA in the
    1981 time period.  Post 1980 missions planned by NASA include
    a Mariner Jupiter Uranus flyby, a Mariner Jupiter Orbiter,
    a Pioneer Jupiter Orbiter, a Pioneer Jupiter Probe and a
    Mars Sample return mission.  The DOD has several planned
    missions in the post 1977 time period.  All of these missions
    will utilize plutonium fuels for electrical power.  The
    following plutonium inventories are contemplated to meet the
    above requirements:

    1.  FY 75         -  30.9 kg
    2.  FY 76         -  19.4 kg
    3.  FY 77         -  14.4 kg
    4.  FY 78         -  35.3 kg
    5.  FY 79         -  59.0 kg

    6.  FY 80         -  69.7 kg
    7.  FY 81 - FY 86 - 331.8 kg

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       322


III.  Control Technology

      A.   Past Effluent Releases

          Early isotopic space systems were designed to  burn up  on
          reentry yet provide absolute containment for all  ground
          handling and accident situations.  In 1964,  SNAP  9A burned
          up on reentry as designed after an abort on ascent to  orbit.
          One kg of Plutonium-238 was burned up in the stratosphere
          (particle size - 0.4 ji) .

          Systems after the SNAP 9A were designed for intact reentry.
          Two aborts after 1964 released no radioactive  material.
          The first, a Nimbus spacecraft was aborted in  1968 after
          launch at the AF Western Test Range.   It was intentionally
          destructed at 100,000 feet after the  launch vehicle went
          off-course.  The radioisotope capsules were retrieved  intact
          from the Pacific Ocean (contained 2 kgs).  The second, an
          Apollo 13 aborted in 1970 and the LEM returned to earth  with
          the radioisotope capsule.  The capsule sustained  reentry
          and impacted in the deep ocean south  of the Fiji  Islands
          in at least 20,000 feet of water with the Plutonium-238
          contained in multi-containment capsules.

      B.   Projected Effluent Control Plans

          No releases are projected in the future.  Systems are  designed
          to remain intact under all normal and all credible accident
          conditions.  Also in the design of future systems, con-
          sideration is given to possible search and recovery of
          aborted systems.  Plans and techniques for worldwide search
          and recovery exist now and are continually being  updated.
          Salt water actuated pingers are standard items on all  flights
          to assist in locating and recovering  the Pu-238 in the event
          of an advertent water impact, should  early launch vehicle
          accidents occur.

          Effluent control at the Savannah River is under the Production
          Programs and at Mound Laboratory is under Weapons Programs,
          except that the SNS operations at Savannah will be a "dry
          process" producing no effluents.

      C.   Containment Test Programs

          1.  To verify containment design, extensive safety test
              programs are conducted under all  simulated accident
              conditions:  fire, over-pressure, reentry, impact,
              and post-impact environments.

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                                     -46-                                 323

IV.   Projected Waste Quantities

     No waste quantities are projected as the result  of  space operational
     activities.

     Manufacturing site wastes are projected as  follows:

     1.  Savannah River - less than 120 grams/yr,  accumulating
         annually beginning in FY 1978.

     2.  Mound Laboratory - less than 600 grams  in FY 1975 decreasing
         to  less than 50 grams in FY 1980 and thereafter.

     3.  Transuranium wastes are sent to appropriate  AEC burial sites.

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        324                            -47-
                DIVISION OF PRODUCTION AND MATERIALS MANAGEMENT
               Overview on Plutonium and Transuranic Elements  -
                          Source  Terms and Operations

1.  Production and Materials Management Program  Summary
    The nuclear reactors at AEC's Richland and Savannah River  plants were built
    to produce nuclear  materials  for the Nation's defense program.  Continued
    operations under /.EC policies will enable the plants to continue pro-
    viding protection of the" population and  the  environment from adverse
    effects of radioactivity while  fulfilling the function of  producing
    Plutonium and tritium for National defense.  The principal product at
    Richland is plutonium and at  Savannah  River  both plutonium and tritium are
    produced.   Small quantities of  other transuranic isotopes  such as Np-237>
    Pu-238, Am-2Ul, Am-2^3, Cm-2^  and Cf-252 are produced at  the AEC production
    sites.  The Idaho Chemical Processing  Plant, which recovers enriched uranium
    from test  reactor and Navy irradiated  fuels, is also a part of the production
    program.
    The Richland plant  was initially built during the second world war and has
    been in operation about 30 years.. The original plant consisted of a
    uranium fuel fabrication facility, three graphite moderated water-cooled
    reactors,  two chemical separations plants for plutonium recovery and
    decontamination and a facility  for the final isolation and purification
    of plutonium nitrate solution.   Production capacity at Richland was expanded
    on numerous occasions between 19^-8 and 1962.  Six additional reactors
    were built including N reactor  which is  a dual purpose reactor producing
    steam for  electric  power production in addition to plutonium.  Only N
    reactor is presently operated.   The original batch-type plants for the
    separation of plutonium were  shutdown  by 1956 and replaced by two continuous
    solvent extraction  plants. Neither of these plants are being operated
    today but  one plant is being  held in standby for future operation.
    Facilities were £.Xso provided for conversion ui plutonium  nitrate to oxide
    and metal  and for the fabrication of weapons components.   The fabrication
    plant has  been shutdown for several years and is currently being dis-
    mantled.  The Richland plant  includes  facilities for the treatment and
    storage of liquid radioactive wastes.

-------
                                        - 48 -
                                                                              325
    The Savannah River Plant was built in the early 1950's and included
    facilities for fuel and target element fabrication,  five heavy water moderated
    and cooled production reactors, two chemical reprocessing plants for
    both plutonium and enriched uranium recovery, tritium separations
    facilities, and a heavy water production plant.  Currently,  only three
    reactors are operating.  Facilities have been added  for the  fabrication
    of targets to be irradiated to produce other transuranics such as Np-237,
    Pu-238, Am-243, Cm-244, and Cf-252 and for the separation of these products.
    New facilities are currently being provided to fabricate Pu-238 oxide
    fuel forms for thermoelectric power sources.  Facilities are also provided
    for the treatment and storage of liquid radioactive  wastes.

    The Idaho Chemical Processing Plant includes facilities for  the separation
    and purification of irradiated enriched uranium from test reactor and Naval
    reactor fuels.  Facilities are also provided for the temporary storage of
    liquid radioactive waste which contain transuranic  elements.  The liquid
    waste is converted to a calcined granular solid in  a fluid bed and sub-
    sequently stored in stainless steel bins.

2.  Applications of Transuranics
    The principal mission of the AEC production reactors is the  production of
    plutonium and tritium for weapon application.  However, significant
    quantities of non-weapon plutonium has been produced in support of the
    civilian nuclear reactor development program and smaller quantities for
    foreign sales.  Pu-238 is produced for use as a heat source  in thermo-
    electric power for space application and for R&D for possible medical
    application (pacemakers, artificial heart, etc.). Cm-244 has been used
    in R&D programs and may be used as a replacement or  supplement for Pu-238
    in space applications.   Cf-252 is used as a neutron  source for neutron
    radiography, cancer therapy, etc.

    The AEC has produced several tens of tons of plutonium in its reactors
    including several tons  of non-weapon grade plutonium since the beginning
    of the production program in the mid 1940's.  In addition, 200 kg of Pu-238,

-------
      326
- 49 -
    4 kg Cm-244,  and 2  grams  of  Cf-252  have been produced  in Savannah River
    reactors.   Additional quantities of transplutonium elements  have been
    produced in Savannah River reactors,  separated  and refabricated  into
    targets for further irradiation as  part of  the  Cf-252  program.

3.   Control Technology
    The AEC plutonium production plants control releases of  transuranic
    elements by the following procedures:
         1.  All process air  passes through at  least  two high efficiency
             particulate filters (HEPA) before  release.  All effluents
             are monitored for releases.
         2.  Any liquid waste streams containing significant quantities
             of transuranic elements are stored in  waste tanks.   Liquids
             containing extremely low levels of transuranics such as evaporator
             overheads  are released to  seepage  basins or other controlled
             facilities.
    The total current releases of transuranics  to controlled facilities
    at Richland and Savannah River are  about one curie per year  while stack
    releases from Richland and Savannah River average about  0.0013 and
    0.02 curies,  respectively.  Releases to date from our  plants are shown
    in the table below.

               Releases of Transuranics in Curies to  July  1, 1974
                                                                                3/
                                   Richland—   Savannah River—   Processing 'i'lanu
    Stack Releases - Ci                1-36          3.64                *
    Seepage Basins, Ponds,
    Cribs, Ditches, etc.  - Ci        18^750**       20.13                0

    *  In the separation of enriched uranium at Idaho, fission products
       and plutonium are separated from enriched uranium.  The high  level
       liquid waste which contains the  fission  products and  plutonium is
       subsequently calcined to  a granular solid.  In this operation a small

-------
                                         -  50 -
327
       amount of radioactivity is released from the plant stack.   The plutonium
       releases from this operation which are essentially below the level of
       detection are reported as less than 1 curie per year.

    ** The true level may be only about 66% of the reported level due to the
       overstatement of quantities in the Z-9 crib.

    In an effort to further reduce releases, the liquid process waste from
    the plutonium finishing and scrap recovery operation, which was being
    discharged at Richland to cribs or covered ditches, is being sent to
    waste storage tanks.  At Savannah River, a new sand filter is being built
    in each of the two separations areas and all air from the plutonium and
    transplutonium processing operations will be routed through a final
    sand filter in addition -to at least two HEPA filters.  At Idaho, a
    filter is being installed which will substantially reduce stack releases
    of radioactivity which is principally fission products but contains traces
    of transuranics.

    The AEG has established new criteria for facilities which process or store
    plutonium including resistance to fires, earthquakes and tornados.
    Facilities meeting the new criteria are available at Richland for the
    storage of plutonium as metal, oxide, nitrate solution or scrap.  Vaults
    meeting the new criteria are available at Savannah River for plutonium
    storage.  At Savannah River a new facility is being built within an
    existing building for converting Pu-238 oxide powder to specific fuel forms.
    This building is being upgraded to meet the new plutonium criteria.  The
    process air from this building, which will be filtered by from two to
    four HEPA filters, will be routed through the new F Area sand filter as
    further backup against potential releases.

4.  Future Projections
    In the future, if production levels continue at about the same level, the
    releases of transuranic elements can be expected to be held at about the
    present level or slightly reduced due to the use of new facilities which
    are under construction.  Increases in the production of transuranic
    dements with -ihort half-lives such as Pu-238, Cm-244, Cf-252 could

-------
    328                          -si-


require additional control facilities  to  control' releases at the current
level.  Such facilities would be provided in  accordance with accepted
AEG policies; however,  at the present  time there are no plans for
increased production of these elements.
I/ Data taken from [ARH-2806 4Q REV],  "Radioactive Liquid  Wastes
   Discharged To Ground In The 200 Areas During 1973",  and
   [ARH-2807 4Q], "Radioactivity In Gaseous Waste Discharged  From
   The Separations Facilities During 1973", and updated with  reports
   for first six months of 1974.

21 Data taken from draft WASH-1537 Environmental Statement -  Waste
   Management Operations, Savannah River Plant and updated from SR
   monthly reports.

3J Data taken from draft Environmental Statement, Waste Management
   Operations, National Reactor Testing Station.

-------
                                  -52-

            Overview Reactor Research and Development Program Area
                          Source Terms and Operations
                                 Prepared for
                        EPA Public Hearings - 12/10/74

1.  Reactor Research and Development Program
    For over 20 years the AEC has been engaged in the development of nuclear
    power reactors to help meet the Nation's need for energy.  To date,  several
    reactor systems have been successfully developed and some have come  into
    commercial use.  These commercial reactors are now producing about 5 70 of
    the Nation's electricity from the energy released from the fission of
    uranium, with plutonium as a by-product.

    Because of limitations inherent in today's nuclear power plants, only 1
    to 27, of the energy potentially available in uranium can be used.  The
    fast breeder reactor, which is in an advanced stage of development can
    extract 60% or more of the energy in uranium, including depleted uranium,
    and also utilize the by-product plutonium for the initial fissile fuel.
    This use of plutonium, through the development of the fast breeder reactor
    to the point of large scale commercial application would mean the
    availability of low cost uranium sufficient to provide a large fraction of
    the Nation's electric energy requirement for hundreds of years,  if needed.

    Several promising breeder concepts have been investigated and the  focus
    of the AEC reactor development program is now on the sodium cooled Liquid
    Metal Fast Breeder Reactor (LMFBR).   At the same time, other breeder
    options are being held open by carrying forward technology efforts for
    breeder reactor concepts such as the Light Water Breeder Reactor (LWBR), the
    Molten Salt Breeder Reactor (MSBR) ,  and the Gas-Cooled Fast Breeder Reactor
    (GCFR).

-------
   330                          - 53 -






The LMFBR program has as its objective the timely development  of




technology for a breeder reactor that will offer a commercially




competitive and environmentally acceptable option for helping  to




assure the Nation's long-term electric energy supply.  The program




recognizes that domestic economic uranium (and thorium) resources




are finite and that of the 220 or more nuclear power plants, now in




operation, under construction, or on order in the U.S., the pre-




ponderance are light water reactors which operate on the uranium-




plutonium fuel cycle.  The overall LMFBR program for the development




of the required broad technological and engineering base, is being




carried out by AEC laboratories and by industrial firms at a number




of locations throughout the country.  This includes many facilities




which are variously used to permit testing of physics, fuel, components




and instrumentation.  Some of these facilities have plutonium




inventories.








The total of the plutonium inventories at RRD facilities is in the




range of 4000 kgs Pu.  Table 1 lists the inventories of plutonium




reported by each of the major field offices for RRD programs as of




June 30, 1974.  Table 2 shows the estimated annual Pu requirements for




major RRD programs thru 1986.

-------
- 54 -
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                                       - 56 -                                333






 In June 1973 the AEC began preparation of an environmental impact statement




 on the overall IMFBR Program (WASH-1535) as required by NEPA.   The environmental




 impact statement which was developed, and is now in the final  stages of review




 prior to release, diifers from the conventional statement in that the important




 environmental and societal impacts [which are assessed] would  not arise from the




 proposed research and development activities, but rather from  the eventual




 commercialization of IKFBRs which would be expected if the research and




 development goals were attained.   It was necessary therefore to look ahead some




 40 to 50 years to foresee an LMFBR industry that would constitute about 407=




 of the total installed electric generating capacity in the U.S. by the year




 2020.






Many estimates and forecasts were made for this study which could prove useful




 in assessing the quantities and impacts of the plutonium that  would be in use.




 Pertinent tables from the report will be used in the following discussion.




 In addition, an intensive cost-benefit assessment was undertaken, considering




 both the direct and tha indirect costs and benefits of the development of the




 IMFBR.






 The direct costs were confined to IMFBR development program costs and to those




 costs normally imbedded in the price of electrical energy.  Calculations for




over 70 separate postulated cases were performed to estimate U.S. electrical




 power production costs over the period 1974 - 2020.  One of the major quantifiable




 conclusions of the direct economic analysis was that the introduction of a fast

-------
334                           -57-







 breeder into  the U.S. electric power utility system will produce



 significant financial benefits.  These benefits result largely from



 a reduction in  uranium ore and enrichment requirements.  Additionally,



 the fast breeder results in a nuclear power industry that will have



 total  power costs, in constant dollars, that decrease with time.



 Capital requirements accumulated to the year 2020 are estimated to



 be about 1070  less with a fast breeder industry due to the reduced



 requirement for mining, milling and enrichment facilities.





 With the breeder, the nuclear industry can eventually free itself



 of the need to  mine uranium.  The advanced oxide fueled breeder,



 with an astimated 10 year compound doubling time, can meet the



 fissile fuel demand of a growing nuclear power industry with self-



 generated plutonium shortly after the turn of the century.



 Specifically, without the LMFBR, the cumulative U»08 requirement



 to the year 2020 is 6.3 million tons, while the cumulative U_00
                                                            j o


 requirement with the LMFBR is 2.6 million  tons.  Without the LMFBR,



 U,0Q will be mined at an ever increasing rate,  while with the LMFBR,
  J O


 the annual ore  requirement becomes insignificant after about the



 year 2015, with similar trends for separative work capacity requirements.





 Indirect benefits, though no less significant,  come partly from the



 improved resource utilization.  The use of plutonium as a reactor



 fuel for electric power production would free the finite resources



 of fossil fuels for their optimum use,  thus assuring the domestic

-------
                                                                       335
 availability of  fuel  for electric power production for the long




 term.  A mature  LMFBR industry together with the non-breeders can




 generate sufficient fissile material for the nuclear industry to




 be able to use stockpiled depleted uranium for hundreds of years




 as the sole source of fertile fuel material.  A premium market




 would be established  for the plutonium produced by LWRs .  There




 would also be the potential for substituting electricity for




 fossil fuels in  energy- intensive applications.






 Other indirect benefits of note are in the cumulative health and




 safety effects for both occupational and public groups.  Major




 improvements in  occupational health and safety arise from the




 fact that the LMFBR system does not have associated with it the




 mining of uranium and replaces fossil plants burning coal.   Timely




 introduction of  the breeder could reduce occupational accident fatalities




 by 3000 persons  through year 2020 (and an additional 2000 persons after




 2020 due to plants then in operation).   In contrast the use of coal




 instead of nuclear fuel would lead to an additional 51,000 occupational




 fatalities and 27,000 more public fatalities due to associated fuel




 transportation accidents.







These are  but  a  few of the conclusions  from the extensive study




soon to be  published,  which will  be  available to the EPA.

-------
       336                           -59-


2.   Applications Using  Plutonium

    As has already been stated, plutonium  is a by-product of the reactors

    built, under construction  and  planned  by the electric utility industry,

    both LWRs and High  Temperature Gas-Cooled Reactors (HTGRs).  Plutonium

    now is being considered as a potential fuel for recycling in the LWR

    reactors and as a fuel  for the breeder.  The AEC Directorate of Licensing

    has prepared a draft generic environmental statement for the use of

    recycle plutonium in light water-cooled reactors (GESMO  - WASH-1327,

    August 1974).  Starting on page VIII-65 of "GESMO" there is a discussion

    of the dollar value of  plutonium as a  reactor  fuel for recycling.  Using

    the assumptions stated, plutonium has  a near-term value of about $11.00

    per gram fissile.  Since this  value is tied in to the cost of enriched
            *
    uranium, the value  continues  to rise to about  $16.50/gram fissile  plutonium

    in 1995.  As a breeder  reactor fuel the value  is expected to be considerably

    higher.  These are  the  prospective values  shown in GESMO:


                         Projected Plutonium Value*
                          ($/gm  fissile plutonium)

                         Year                Pu Value
                         1975                  9.90
                         1980                  11.75
                         1985                  14.89
                         1990                  15.81
                         1995                  16.50

                        *if recycled promptly  in LWR's.


    To make the assumed value  more meaningful  one  may  look  at  the quantity  of

    plutonium that will be produced by the commercial  reactors and  that  can be

-------
                                      - 60 -


    reused as reactor fuel.  AEC's publication,  "Nuclear Power Growth  1974-

    2000" (WASH-1139 (74), February 1974)  projects 4 cases.   Case D, one  of

    the more conservative cases, assumes a general reduction in the growth of

    electricity use and some improvement over recent experiences in nuclear

    plant construction and regulation.   Under these assumptions, Case  D fore-

    casts the following nuclear generating capacity in thousands of MW:

         Year       MW x IQ3                        Year          MW x 1Q3

         1975  -   47.3                             1990     -   475

         1980  -   102.1                            1995     -   760

         1985  -   250.0                            2000     -   1090


    Table 3 taken from WASH-1139 (74),  shows the fissile plutonium recovery  and

    utilization in the U.S. using Case  D assumptions.


    As shown^in Table3, the total plutonium recovered by the year 1995 would

    aggregate to about .86 million Kg.   Assuming a value of  $l6.50/g in

    1995 (according to GESMO) this inventory would be worth  about $14.2

    billion if'it were to be used in recycling,  and potentially more as a

    breeder fuel.  Considering the plutonium inventories and their prospective

    values, it would appear that we are  already  in a plutonium economy


3.  Control Technology - Identification  of Source Terms

    In the LWR and HTGR fuel cycle, plutonium is present in  the irradiated or

    spent fuel.   It is stored for a cooling period and then  shipped  in shielded

    containers to a reprocessor for the  recovery of plutonium and uraniunrr
    I/ Environmental Statements have been prepared by Directorates of Licensing
       •nd Regulatory Standards, USAEC.
337

-------
338
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-------
                                    -62-                                 339


 In the IMFBR fuel cycle,  plutonium  and uranium bearing materials would be


 combined at the fuel fabrication  plant for use in the reactor.  After


 cooling, the irradiated fuel  would  be shipped in specially built containers


 to the reprocessing plant.   The separated fission products would be

                                                             2/
 solidified and eventually shipped to a waste storage facility-?-  and the


 plutonium would be recycled as D4FBR fuel.  A summary of materials and


 quantities shipped for a  1000 MW  IMFBR is shown in Table 4.
WASH-1539, Draft Environmental  Statement" Management of Commercial High

Level and Transuranium  Contaminated Radioactive Waste" September, 1974.

-------
340
                   - 63 -





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-------
                                                                            341
                                       -  64 -





The estimated releases of alpha-emitting  transuranic elements from normal




operations of the LMFBR fuel cycle are  summarized in Table  5,  The principal




airborne release is from the fuel reprocessing plant,  totaling 0,36 tnCi per




1000 MWe-year.   Other airborne releases are  small by comparison.   Liquid




transuranic effluents are assumed to occur only for the fuel fabrication




plant and are estimated at 0.05 mCi per 1000 MW-year.






The estimated population dose from alpha-emitters expected  from operation of




the LMFBR fuel  cycle is shown in Table  6.  The estimated man-rem exposure




from LMFBR transuranic releases is shown  in  Table 7.






In addition to  normal operational experience  various accident situations were




postulated in developing the environmental impact statement for the LMFBR




program.  Estimated releases of transuranic  elements for major accident categories




are summarized  in Table 8 which shows only those quantities of material esti-^ted




to pass all containment barriers which  have  been designed into the system.




The total plutonium released annually due to  postulated transportation accidents



would average less than 10~  Ci per year  associated  with  the  operation of a




1000 Mw LMFBR.

-------
342
                     - 65 -






























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344
                                    - 67  -

                                    Table  6

                   ALPHA-EMITTING RADIOISOTQPES  IM THE POPULATION
                               OF THE UNITED  STATES
                                                          Population Dose frcn
                                 Amount of Alpha          Alpha Emitters in U.S.
                                  Emitters in             Population (r-sn-re-'.s/
                                 U.S.  Population            70 year lifosnii)
       Source                        (curies)              BoneLung



    Natural  Radioactivity            > lO^a             > 7 x 108a        > 7 x 108a


    1000-MVJe-year LKFBR              < 10'^             < 30 b            < 4 b


    8Source:   Ionizing Radiation;   Level  and Effects, Vol. 1, "Levels," United
    .Nations,  t!ew YorK, i9/T]
    DSee Table 4.7-2

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- 68 -
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      348




The development of reactor technology  that would be reliable and safe and



reduce radioactive effluents including the  transuranics,  to levels  that are




as low as practicable has been one  of  the  concerns of  the  Division  of Reactor



Research and Development from the beginning.   One example  is a  current research




and development program to further  reduce  the  effluents expected in the




reprocessing of IWFBR fuels to meet as low as  practicable  guides.   This



concern for public safety from man-made sources of radiation has been a



feature of the fuels program, the engineering  and components development



program and is a major concern of the  reactor  safety activity of the division,



as well as the statutory requirement of the AEC.

-------
                                                                           349
         .SDU11C1I. 'm&.l-
Tlie principal environmental contaminant will be weapons plutonium.
Initially, the major alpha source following a \vc;rj)ons plutonium release
incident would be 239-Plutoni urn.  After a decay-growth period, then
would be added 241-Americium at. a substantial level relative to the
239- Fu level.

The amounts of plutonium involved in the U. S. weapons program are
necessarily classified.  As an unclassified approximation it can be
stated that yearly plutoniun processing is on the order of 100,000
Curies .

The only reason for U. S. weapon plutonium to enter the environment
would be from accidental circumstances.  Historically, the AI-C's acci-
dental releases have taken place during production.  Most, pluloniuni
fires are fully contained within the production facility; however, plu-
toniu-n contamination has escaped in fractional curie amounts during one
or possibly two fires.  Contciiinr.at ion in amounts from 10 to 100 Curies
escaped in a waste spill from rusted waste storage drums.  Improved
metho'Js and facilities make  the possibility of these types of release
highly improbable.  Based on accident history, releases of trrmsurarn r
contamination from tli-c AFC ' s weapon program total less than 100 Ciu i r i. .
 Future  accident  release  potentials  from the weapons program arc con-
 servatively estimated at 1  Curie  per  year for five years  lowered to  a
 small fraction  of a  Curie  per  year  after 1980 due  to  better  facilities
 and  in-proved  performance.   Future releases from  routine  operations of
 the  weapons  program  are  estimated at  0.01  Curies per  year.

While the U.  S. no longer conducts  atmospheric testing of nuclear weapons,
foreign atmospheric testing  and other foreign nuclear weapons operations
might continue to contribute 500 to 5,000  Curies per year until there  is
a complete stop to atmospheric testing.

-------
   350                           - 73 -


                COSTS OF PLUTONIUM FACILITY IMPROVMENTS


Expenditures for fire safety and operating conditions improvement in
Plutonium facilities following the fire at Rocky Flats have been
greater than $24-0 million.  Major items are tabulated below:

1.  Rocky Flats Plant - $155 million

    a.  New Plutonium Recovery and Waste Treatment Facility

    b.  Filter Plenum Improvements, Various Manufacturing
        Buildings (four buildings - two tunnels)

    c.  Liquid Plutonium Waste Treatment Facility Improvements
        (Building 77^)

    d.  Inerting Hazardous Gloveboxes, Various Manufacturing
        Buildings

2.  Los Alamos Scientific Laboratory - $75 million

    New plutonium processing facilities and improved fire pro-
    tection.

3.  Pantex Plant - $1.7 million

    Mainly fire protection for production facilities.

4.  Mound Laboratory - $1.6 million

    Fire protection and fire detection in gloveboxes.

-------
                                   -74-                                   351
               RADIOACTIVE MATERIAL SPREAD BY WEAPONS FIRE
An accident occurred at McGuire Air Force Base in 1960 in which
a missile containing a nuclear weapon burned.  Certain aspects of the
physical situation at McGuire would probably be pertinent to many weapon
fire circumstances:  (1) a weapon containing plutonium and explosives
was involved, (2) the weapon was housed in an enclosed structure, (3)
water was used to fight the fire, and the fire occurred in the presence
of quantities of jet fuel.  No HE detonation took place.

The explosive burned along with the jet fuel with an intense heat for
nearly an hour.  The plutonium became melted and much of it puddled
under the burned out missile.  No criticality problems occurred.  The
detectable plutonium spread was mostly limited to the area covered by
smoke and water from fire fighting efforts.  Environmental monitoring
conducted on the day after the accident showed almost no contamination
scatter.  Zero ground contamination was found beyond 100 feet from the
accident location.  Some close-in contamination was found; evidently
this was associated with fire-fighting water.  No air contamination
was detected.

While the cost due to decontamination and loss of the weapon was high,
the overall magnitude of the accident was less than that which might have
resulted from a one-point detonation and caused no serious off-site
effects.  Under these or similar circumstances, the off-site effects of
this type of accident at a weapons maintenance facility would probably
be much less severe than those for a one-point detonation.

-------
    352
                                     - 75 -
              WEAPON RADIOACTIVITY SPREAD BY DETONATION IMPACT
On January 17, 1966, a B-52 aircraft carrying four nuclear bombs collided
with a KC-135 tanker over Palomares, Spain, during refueling operations.
Four bombs broke free in the crash as the disabled aircraft plummeted hear
the village.  One fell in a steep bank of soft earth and did not detonate.
One fell into the sea and was later recovered.  However, the HE components
of two weapons did detonate upon impact; one in low mountains and the other
on land used for agriculture.  The wind velocity at the impact site was
approximately 30 knots at the time of the impact and the area contaminated
by plutonium from the detonated weapons was long and narrow.  The area con-
taminated from 3.2 to 32 |j,Ci/m  was slightly over one-half mile long and
one-sixteenth of a mile wide, with plutonium detectable to a distance of
approximately two miles.

As mentioned above, the high explosives in two of the weapons detonated
on impact.  The quantity of plutonium involved in these weapons remains
classified.  Evidentially, much of the plutonium involved in these detona-
tions was converted into a fine, oxide and was dispersed by the 30 knots
wind which prevailed at the time of the accident.  The Air Force survey
showed that the 32 pCi/m2 level covered something over five acres with an
additional 41 acres contaminated to more than about 3.2 microcuries per
square meter.  An additional 500 acres were found to be contaminated to
greater than 0.32 )j,Ci/m2.

The Air Force did careful appraisals to learn the whereabouts of all radio-
active material and radioactive contamination following the accident.
Most of the aircraft wreckage was found to be uncontaminated or to have
negligible contamination.  All of the wreckage with slight contamination
was gathered and disposed of by dumping in deep, remote Atlantic waters.
More contaminated wreckage was picked up, packaged, and transported to
the United States for disposal.

No plutonium or tritium contamination was found in the sea water at any
time following the accident nor was any tritium found at the impact sites
or anywhere in the Palomares area higher than background.

Shortly after the accident, United States experts met with officials from
the Spanish Government to advise and assist Spain in handling this con-
taminating accident, and to decide upon criteria for disposal of contami- „
nated soil.  It was agreed that soils contaminated with more than 32 u-Ci/m
would have the top 10 centimeters (four inches) removed for disposal in the
United States.  Areas with less contamination (3.2 to 32 u-Ci/m2) would be
plowed to a depth of about 30 centimeters.

-------
                                        -76-                                 353
Based on the agreement reached with Spain on the decontamination process
the top four inches of soil for the area which had been contaminated at
greater than 32 |j,Ci/m  were removed from approximately 5.4 acres and
placed in drums for shipment to a United States storage site; approximately
550 additional acres which had been contaminated to less than 32 ^Ci/m^
were plowed to a depth of about 30 centimeters.

While it had been agreed to plow areas having contamination levels greater
than 32 (j,Ci/m2, in the actual field operation areas plowed included all
down to about 3.2 y,Ci/m2 where feasible.  Crops grown on soil on the area
which had been contaminated to more than 32 \j,Ci/ra?- were also shipped to
the United States for burial, while those grown on the deep-plowed soil
in the area which had been contaminated to less than that figure were
burned at the sea shore on days when the wind was blowing toward the sea.

After the decontamination was finished, lung counts for radioactivity
were taken on the 100 villagers most likely affected and no positive
counts were found in the group.  Urine samples for plutonium were negative
for 70 persons and showed only insigificant amounts for the others (0.1
to 0.2 dpm in a 24 hour sample).

In 1971, six years after the accident, there appeared to be little change
in the community from the time before the accident.  Farming habits have
changed, but mostly due to other factors such as drought, flash flooding,
and economics.  Followup studies show little change in exposed persons
and none is expected.

-------
 354
                                 - 77 -
             RADIOACTIVE MATERIAL SPREAD BY AIRCRAFT CRASH






An aircraft carrying four unarmed nuclear weapons crashed on ice in the




Arctic while attempting an emergency landing necessitated by an on-board




fire.  The angle of impact of the main body of the plane was about  15°.




The left wing was about 60° low, and the velocity of impact was estimated




at 500 knots or greater.  At impact, it appears that the high-explosive




components of all four weapons detonated, dispersing the plutonium  in




the devices into the conflagration resulting from ignition of the jet




fuel, all of which was released with high forward velocity at the instant




of impact and detonation of the weapons' high-explosive components.






The gross weight of the plane was about 1.9 x 10  kg, of which 1.0  x 10




kg (35,000 gallons) was JP-4 fuel.  The perpendicular momentum vector




would be attenuated very fast by the inertia of the ice and water and




the binding and crush strength of the ice ( 30 to 40 inches thick),  while




the parallel vector would undergo relatively slow attenuation, resulting




in a great forward splash of fuel and debris.  This deduction was clearly




indicated by an aerial photograph of the crash site, showing a long




patch of black discolored ice extending away from the aircraft's impact




point (See figure).






At impact, there was a large explosion and intense fire.  The fire




continued to burn for at least 20 minutes.  Actual measurements of  the




cloud showed a height of approximately 2400 feet and a length of about

-------
                             -  78  -
355
380mg/m*
112
                                                   SURFACE WIND DIRECTION
                                           PHASE 1,24 JAN68 AND PHASE D, 28JAN6
                                  SURFACE WIND DIRECTION
                                      ON2IJAN68
                    Plutonium contamination levels observed.
               O    O      O      000       O
                     Ic* cor* sample locations.

-------
   356
- 79  -
2200 feet.  At the earliest possible time,  the crash site was monitored




for occurrence of nuclear criticality.   Absolutely  no evidence was




obtained of any nuclear yield,  limiting the problem to one  of contamina-




tion of the broken ice in the impact area and the surface of the  packed




snow by plutonium, tritium, uranium, plane debris,  and jet  fuel.






The plutonium in the accident was converted largely to oxides by  the




explosion and fire.  The plutonium oxide was dispersed as fine insoluble




particles (from fractions of a micron to several microns in diameter).




Plutonium oxide is notoriously insoluble; its solubility in sea water at




20°C is only 20 micrograms Qug) per liter.   Particles of plutonium  oxide




were impinged into all bomb and plane surfaces struck by the high-explosive




shock wave, entrained and carried forward in the splashing  fuel,  blown




into the crushed ice at the impact point, and carried aloft in the  smoke




plume along with the combustion products of the burning fuel.






At the time of the crash, there was a 6-knot wind blowing from slightly




east of north to slightly west of south.  There was a stable inversion at




approximately 2400 feet altitude and no turbulence.  This stable  condition




persisted for several hours after the crash.  Three days after the  crash,




a surface wind of about 25 knots (with gusts up to  45 knots) persisted




for approximately 12 hours.  Four days later, a similar storm occurred




which persisted for about 24 hours.  These winds blew from  southeast  to




northwest, spreading some surface contamination in  the downwind direction.

-------
                                   ~80~                                357




                          TECHNICAL INFORMATION






Following the accident, certain technical information was obtained,




including:  amount, distribution, particle size,  ir.d mode of fixa-




tion of plutonium in the crushed and refrozen ice in the impact  area;




the amount and distribution of plutonium contamination remaining on




the surface; particle size, depth, and degree or  mode of fixation of




plutonium in the surface crust; tenacity of fixation of plutonium to




the metal debris of the aircraft in the event large, highly-contaminated




pieces went through the ice; monitoring of the bottom end of ice core




samples taken around the impact area in the event large pools of con-




taminated jet fuel had been trapped beneath the unbroken ice; and




sampling and analyzing snow surfaces along nearby shorelines.




Surface Distribution of Plutonium




It appears certain that a large fraction of the fine debris from the




disintegrating aircraft and the plutonium oxide from the weapons were




entrained in the large amount of JP-4 fuel released and projected forward




by the impact and detonation of the weapons'  high-explosive components.




When the ignited fuel dropped back to the surface of the snow, it con-




tinued to burn until oxygen and temperature dropped below combustion




levels.  Extinction of the fire left a large quantity of unburned fuel,




particularly in the blackened crust,  some of which percolated down into




the white snow pack beneath.  The fuel that went  below the




blackened zone, however, carried little or no plutonium with it.  From




1 to 40 percent of j et fuel on-board may remain unburned at the  crash




site, depending on the porosity and other characteristics of the surface

-------
    358                             -si-






over which the fuel is spread.   Packed snow would  appear  to  constitute



a porous surface.   In this incident,  estimation of the  jet fuel  in



random samples of the blackened crust suggests  that about 18 percent


         4

(1.9 x 10  kg, 6500 gals.) of the fuel remained unburned.






Microscopic and autoradiographic examination of solids  filtered  from



melted samples of blackened crust showed plutonium oxide  particles



frequently associated with small fragments  of debris of all  kinds  (metal,



glass, and nylon fibers, plastic, rubber, flecks of paint, etc.).






The significance of these observations,  of  course, has  to do with the



ultimate distribution of the plutonium in the event large amounts of the



blackened crust were allowed to break up with the  ice and melt.  The



fact that, large amounts of jet  fuel are involved,  in which the plutonium



associated with low specific gravity  debris may float,  could result in



contamination of the shore line during the  summer  season.





Plutonium Surface Deposition from Monitoring Results



Large-area monitoring was accomplished by running  two radial grids, and



the immediate vicinity of the crash site was monitored  according to a



rectangular grid (50-foot intervals).  On another  occasion the crash



site was monitored at 50-foot intervals along the  long  axis  of the



blackened pattern and along three diagonals (readings at  25-foot intervals),



one on each end and one near the middle.  The counts per  minute  readings



along each grid line and radial were  plotted and fitted with smooth lines,



from which interpolations were taken  for contour plotting using  the com-



bined data.  The contour readings were converted to milligrams  (ing) of


  239      2
Pu    per m  by an instrument calibration factor (determined both  in the

-------
                                    -82-                               359

laboratory and the field) adjusted by  x-ray absorption factors determined


through correlations between field readings and  laboratory analysis of


crust samples representative of the principal contour  areas.  Integral


areas within the contours were determined by planimetry.  Total amounts


of plutonium were then estimated by integrating  the surface concentration


of plutonium as a function of area. The plutonium values obtained are


probably good to - 20 percent out to the edge of the blackened crust

                                                 2
area, which corresponds roughly with the 0.9-mg/m  contamination  contour.


This information indicates 3150 - 630  g of plutonium on the surface, of


which about 99 percent was in the blackened area and would be removed by


removing the full thickness of the blackened crust.  Assuming removal of


crust and packed snow to an average depth of 4 inches, the volume of

                                 3          6
material removed would be 6,000 m  (1.6 x 10  gallons).  Assuming further


that the volume ratio of packed snow to water is approximately 5.0, this


would constitute 3.1 x 10  gallons of  water, which would contain  between


2,500 and 3,700 g of plutonium.




Plutonium Particle Size in Crusted Area


The diameters of plutonium oxide particles and the inert particles to


which the plutonium oxide particles were frequently attached were measured


in two blackened crust samples using a photomicrographic-autoradiographic


technique.




The average plutonium oxide particle count median diameter  (CMD)  was about


2 microns with a standard deviation (a ) of approximately  1.7.  The
                                      O

average calculated mass median diameter (HMD) was about 4 microns.  The


HMD of the inert particles with which  the plutonium was frequently


associated appeared to be 4 to 5 times larger than the plutonium  particles


themselves.

-------
                                     -  83  -
Lavation of Plutonium from Metal Debris




In order to learn how contaminated metal debris might behave after it




reached sea water, pieces of metal varying in weight from 10 to 120 g,




which had been recovered from the crash site, were subjected to the




washing action of sea water, and the removed activity was determined.




Total removal after 41 hours of washing varied from 23 to 89 percent.




The rates of removal were different for each sample.  All lavation




curves, however, tended to level off with time.  One might expect the




rates of lavation and total amounts of plutonium removed to vary from




sample to sample, depending on the velocity at which the plutonium




oxide was impinged and on the hardness and nature of the surface against




which it was blown.






Amount, Distmbution, and Nature of Plutonium Contamination in and




Under the Ice in Impact Area




To investigate the distribution of plutonium in and below the ice, a




total of 182 core samples (7.5 cm in diameter) were taken.  The plu-




tonium activity in the cores was usually segregated into one or two




bands associated with blackened material.  Some cores showed a single




band of activity, ranging from about 5 to 30 cm in thickness.  This




band was usually near the top, but in a few cases (about 18 percent of




the samples in the crushed ice area) it was near the bottom, indicating




that an occasional ice cake had been contaminated and inverted.  Some




cores showed both top and bottom bands of blackened activity.  The




bands were usually horizontal but were occasionally tipped at a significant




angle with respect to the core axis.

-------
                                    -  84  -
                                                                          361
Nature or Form of Fixation of the Plutonium
Differential analysis of the plutonium within the cores indicated that
about 85 percent (range 75 to 95 percent) was associated with large
fragments of material which settled out almost immediately when the
cores were melted.   Microscopic examination showed the plutonium assoc-
iated with fragments of fiberglass, rubber, plastic,  metal, paint,  etc.
There was no JP-4 fuel floating on the surface but only a thin film of
fine carbonized material.  The remainder of the plutonium was retained
on the surface associated with this carbonized film.   Only about 1  per-
cent was suspended through the water phase as very fine particles.
This rapid settling of most of the plutonium decreases greatly the
possibility of shoreline contamination from floating  debris when the
ice melLs.

Amount and Spatial Distribution of the Plutonium
As would be expected from the mode of dispersal, no plutonium was found
in or on the bottom 01 the ice except in the immediate vicinity of  the
primary impact point where the ice was drastically broken, displaced,
and refrozen.

The only significant plutonium contamination in the impact area was con-
fined to the vicinity of the point of primary impact  where the ice  had
been severely crushed and broken.

The observed plutonium distribution pattern in this area was highly
erratic and suggested a highly segregated pattern probably related  to
reorientation of blocks of ice displaced at the moment of impact and
detonation of the weapons' high-explosive components.

-------
 362
- 85 -
Plutonium Contamination of Land Areas

The amount of plutonium accounted for on the surface within the contours

and in the broken ice at the primary point of impact is  lass that the

total inventory of the four nuclear weapons.   The remainder of  the plu-

tonium was removed with the salvaged aircraft debris and carried up in

smoke plume, which had a visible height of about 2400 feet and  a length

of about 2200 feet.  The plutonium carried up in the cloud with fine

particles of debris and combustion products of the fuel.   The meteor-

ological conditions persisting at crash time and for several hours

thereafter caused wide dispersion in a southerly direction.   Undoubtedly,

the substance of the cloud and the accompanying plutonium traveled

hundreds of miles and settled out over a vast area,  producing extremely

low surface plutonium levels.  The amount of plutonium involved in this
            4
long-range distribution pattern and associated with salvaged aircraft

debris will never be known and can never be estimated perhaps to better

than an order of magnitude.  However, the low-level surface contamination

was measured on land masses in the near vicinity of the crash site.

Plutonium analyses of these samples showed contamination levels that were

insignificant with respect to producing any risk either to the  inhabitants

or to their ecology.


Summary

Complete plutonium accountability estimates are only approximate and

some of that information must necessarily remain classified. However,

it can be estimated that only a small percent of the total plutonium

involved in the accident escaped as an airborne aerosol for distribution

away from the local area of the accident.  The plutonium was distributed

-------
                                     - 86 -
 over a relatively small patch  of  ice  about  100 meters wide by 700 meters




 long where it attached to  the  surface ice and snow.  The balance of the




 plutonium was attached to  aircraft  and bomb  fragments scattered about




 the crash location.






 After the accident,  independent scientists  concluded that the amount




 and distribution of  plutonium  in  the  area after the accident was such




 that it could not be of significance  to  the  health of inhabitants*(as




 close as about 10 kilometers).
                                                                           363
*Even so,  all the contamination that was reasonably accessible on the




 ice was removed so that the amount of  remaining contamination was sub-




 stantially reduced.

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    364
     Dr. Mills:  Thank you, Dr. Yoder.




     I have a few comments initially.




     When you speak of routine emissions continuing at the present




rate, are you talking about a constant amount of material or are




you taking into account the growth of the industry?




     Dr. Yoder:  We are looking at the growth and what we are




projecting with the data I presented and the trend that we antici-




pate with regard to improvements in our facilities and techniques,




I think we can conservatively project that those quantities may be




what would be added to the environment.




     Dr. Mills:  Does that include some indication of what new




technology you expect to be in existence by the year 2000?




     Does it include some anticipation of new technology that




might come into existence?




     Dr. Yoder:  No. Just current technology.




     Dr. Mills:  But it does include the projected growth?




     Dr. Yoder:  Yes.  Of AEC operations.  My comments are




directed to AEC, government owned contractor operated facilities




and operations.




     Dr. Mills:  I see. You are not talking about commercial




nuclear power plants?




     Dr. Yoder:  No.




     Dr. Mills:  Could you indicate from the standpoint of the loss




in the inventory of plutonium; that is, the amount that is produced




and the amount of handling, would you even like to guess as to what

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                                                                         365
a ballpark figure might be as to that released fraction?




     Dr. Yoder:  The difference between what is produced and what




is released?




     Dr. Mills:  One would expect to find in the environment.




     Dr. Yoder:  I do not believe I would like to take a guess on




that one.  I do not know anyone who has the answer to that, at least




as I understand the question.




     Dr. Mills:  How do you utilize, then, the information from




the accidental releases?  That is, one makes a determination of




what the developments are.  How do you consider these releases in




the future assessment of plutonium in the environment?




     Dr. Yoder:  We are trying to prevent all accidental releases




and making substantial progress in containing in facility (building)




releases within the facility itself.




     I have limited my discussions to routine releases.




     Dr, Wrenn will be discussing radioactivity around sites.  I would




hesitate to answer all questions with regard to accidental environ-




mental situations.  But I think he is going to summarize this data




for you.




     Dr. Mills:  On page 4, there is a matter of clarification.  In the




middle of the page, it reads:  "Other indirect benefits of note are in




the cumulative health and safety effects for both occupational and




public groups."




     Would you expand on that?




     Dr. Yoder:  Yes.  As I pointed out, this is a distillation of a

-------
366
number of pieces of information.  Perhaps my distillation went a




little too far.




     The environmental statement discussed the activity associated




with mining of coal, transportation of coal, and other associated




options.  When one compares the projected impact of the plutonium




LMFBR versus these, I think that there was a clear benefit for the




working population as well as the general public.




     Dr. Mills:  Dr. Garner?




     Dr. Garner:  I do not really have any serious questions.  I was




concerned to see that you stated there were 13 kilograms of plutonium.




Are they free or encapsulated?




     Dr. Yoder:  They are encapsulated.




     Dr. Garner:  That is all.




     Dr. Mills:  Dr. Radford?




     Dr. Radford:  I have a few questions, Bob.




     When you talk about plutonium, which plutonium isotopes are you




talking about?




     Dr. Yoder:  I include the isotopes 239, 240, 241, when I refer to




plutonium.  I speak of plutonium 238 separately through the paper; 1




have tried to specifically identify that.




     Dr. Radford:  How is plutonium 238 separated from plutonium 239?




     Dr. Yoder:  How is it separated?




     Dr. Radford:  In these commercial applications which are using




specifically plutonium 238 and, I assume', no plutonium 239, how do

-------
                                                                          367
 they get the plutonium 238 away from it?  Or do they manufacture it




 separately?




     Dr. Yoder:  I would like to ask Ray Moore who is a specialist in




 this area, to answer.




     Mr. Moore:  In producing the plutonium-238, we irradiate




 neptunium.  Then we make a separation of the neptunium from




 plutonium-238.  There is no separation of isotopes.  Therefore, the




 plutonium-238 will contain some of the heavier isotopes of plutonium.




     Dr. Radford:  In other words, all your discussion pertaining to




 238 inventories in commercial operations is because it is made




 specifically for that, and really does not have to do with isotope




 separation, while it is uses up a little bit of neptunium-Ok, well,




 now you have heard a little discussion earlier about which isotopes




 we are talking about here.




     Correct me if I am wrong.  Is it not correct that it is




 predominantly plutonium 238 that we are talking about, if you look




 at either the production rate of a breeder reactor fuel or the canyon




 stock fuel that you get, in curies not in grams now, but in curies




 amounts, you get more plutonium 238 than you get plutonium 239?




     Dr. Yoder:  I would like to ask Dr. Ed Sinclair to answer that,




 since he is a breeder reactor expert.




     Dr. Sinclair:   Dr. Radford, the material that Dr. Yoder has been




 talking about is material produced in the AEG complex.  It is what we




 call production plutonium.  It contains very small quantities of




plutonium-238.   It is largely plutonium 239.

-------
  368
     We have calculated the plutonium 238 content of equilibrium




plutonium from Liquid Metal Fast Breeder cycle.   It will be about




50 percent of the alpha activity on an activity basis, or on the




order of one percent of the isotopes on a mass basis.




     Dr. Radford:  The Liquid Metal Fast Breeder reactor.  How about




the garden variety light water currently operating?




     Dr. Sinclair:  That has higher plutonium 238 content, about two




percent.




     Dr. Radford:  So that would be about 3/4 of the activity?




     Dr. Sinclair:  In initial fueling, yes,  sir.  But after equilib-




rium, it will be reduced.




     Dr. Radford:  Then the implication in terms of curie activity




anyway would be quite different from a civilian nuclear power program,




in the AEC facility.  Is that correct?




     Dr. Sinclair:  Very much so.




     Dr. Radford:  That is what I wanted to get at on that one.   So




that would also account for the fact, Dr. Yoder, I believe, that the




importance of, say, curium or americium of some of the other isotopes




is much less in the AEC program than it would be for your power program.




     How, I am a little confused as to what you estimate the AEC releases




will be, either .1 curie per year or -




     Dr. Yoder:  If you look at the graph of AEC release, you will find




that releases are below .1 curie per year with a few exceptions in the




past.




     We are trying to project those, and, since we are below that already,

-------
                                                                          369
we will be a little comfortable and project .1 curie per year.




     Dr. Radford:  If a substantial part of that were airborne in the




form of small particles, that would be a lot of particles, right?




     Dr. Yoder:  Yes.




     Dr. Radford:  Because each particle may contain -




     Dr. Yoder:  It depends on how you want to specify particles size.




You can calculate very easily the number of particles.




     Dr. Radford:  You mentioned that AEC began its off site montior-




ing program in 1970.  Is that correct?




     Dr. Yoder:  No.  The program in 1970 was to improve our monitoring




program to where we had a very good inventory, a much better inventory




of the plutonium and other radioactive materials in the environment




around our plants.




     This program has been going on for a number of years, but in 1970




we made a concerted effort to continue to reduce the emissions through




several mechanisms, one of which was an enhanced environmental sampling




program and documentation on all releases at AEC plants-more specific




documentation.




     Dr. Radford:  With regard to the Rocky Flats fire, did the AEC




undertake environmental surveys after that fire?




     Dr. Yoder:  Yes, the Health and Safety Laboratory, U.S. AEC, has




done environmental sampling around Rocky Flats.




     Dr. Radford:  How far away?




     Dr. Yoder:  Ed Hardy?




     Mr. Hardy:  Dr. Radford,  the extent of our environmental program

-------
  370
around Rocky Flats consisted of taking soil samples as to a measure of




the integrated deposition of intially airborne materials that blew off




the site.




     We took these samples out to about 30 miles east of the plant, and




in some directions, north and south as well, we were able to isopleth




these concentrations and inventory the total amount that had been




dispersed from the plant site.




     Dr. Radford:  When was the work done?




     Mr. Hardy:  This work was done in February, 1970.




     Dr. Radford:  Are your data consistent with those of Poet and




Martel?




     Mr. Hardy:  Dr. Poet and Dr. Martel did not inventory the entire




amount of plutonium that had dispersed from the plant.  What they did




was to announce that there had been plutonium offsite.




     Dr. Radford:  They did present isopleths to them, didn't they?




     Mr, Hardy:  Not that I am aware.




     Dr. Radford:  You do not know whether your results agree with




theirs or not?




     Mr. Hardy:  Where we had been able to compare sites that were




closeby, there seems to be no difference in our data.




     Dr. Radford:  Were your results published in the open literature?




     Mr. Hardy:  Yes, sir.  They were.




     Dr. Radford:  Where?




     Mr. Hardy:  In the Health Physics journal and also in the Health




and Safety Laboratory reports.

-------
                                                                          371
     Dr. Radford:  When did that publication appear?




     Mr. Hardy:  The Health and Safety Laboratory report appeared in




August of 1970; the Health Physics article appeared, I think, last




December.   (Added note:  the article appeared in the January, 1974




issue of Health Physics.)




     Dr. Radford:  Turning to the Mound Laboratory releases, did the




AEC sample  the sediments in the canal or in the lake or pond or




whatever it was?




     Mr. Hardy:  Mound Laboratory undertook the major environmental




sampling offsite.  The Atomic Energy Commission through our laboratory




did do some sediment sampling, but only as a cross check on the Mound




data.




     Dr. Radford:  The reason I am bringing this up is, Dr. Yoder in his




summary statement said there have been releases of plutonium and these




have been well publicized.




     If one believes the press, apparently they were not well publicized




until some non AEC people reported them.  Is this correct?  Is this a




fair appraisal of the way in which the information was gotten out to




the public?




     Mr. Hardy:  I am really not qualified to answer that question




because we responded to the Rocky Flats situation at the request of the




Atomic Energy Commission headquarters, our parent organization, the




Division of Biomedical and Environmental Research.




     Up to that time, we were not particularly aware that there was




a problem offsite.

-------
 372






     Dr, Radford:  Is it your conclusion that there is not now a




problem offsite and was never one?




     Mr. Hardy:  I do not know what you mean by problem, Dr. Radford.




There is plutonium offsite from the Rocky Flats plant.




     Dr. Radford:  You would feel that it meets current standards,




however those are defined?




     Mr. Hardy:  I am not qualified to respond to that question.




(Added note:  this question was discussed thoroughly at the EPA




January 10, 1975, public hearings on plutonium in Denver, Colorado.)




     Dr. Mills:  Dr. First?




     Dr. First:  Dr. Yoder, you have already stated that your estimates




of material releases apply only to AEG and AEG contractors?




     Dr. Yoder:  That is correct.




     Dr. First:  Have you also, in your calculations, made any




estimate as to what this represents as a total projected release




from AEG and non-AEC operations?




     Dr. Yoder:  No, I have not.  I have only done it for AEC




activities.




     Dr. First:  We cannot put this in a proper context, then, for




total release?




     Dr. Yoder:  I cannot at this moment.




     Dr. Liverman:  Mr. Rogers will be talking in the morning about




the regulatory or non-AEC operations.




     Dr. First:  He will be able to answer this question?

-------
                                                                          373
     Dr. Liverman:  I hope so.




     Dr. First:  Can you estimate what percent of cleanup is obtainable




on the basis of the experience which you related for prior accidents?




You indicated that only a very small amount of material remained.




     Based on this experience and so on, can you predict what percentage




might remain if you were to have another episode of that general nature?




     Dr. Yoder:  Each incident has been somewhat different.  If you




give me an incident, I might be able  to hazard a guess on what percent-




age was cleaned up.




     Dr. First:  I am just trying to get some order of magnitude.




     Dr. Yoder:  It varies.




     Dr. First:  Between what and what?




     Dr. Yoder:  Sixty to ninety percent, perhaps, would be cleaned




up.




     Dr. First:  This would represent future capability, not necessarily




past?




     Dr. Yoder:  That is past experience.




     Dr. First:  Can we do better than that?




     Dr. Yoder:  I think so.




     Dr. First:  How much better, do you think?




     Dr. Yoder:  It is so site dependent I would hate to hazard a number




and then find out we could not do it.




     Dr. First:  If we had to go back to Spain again, just to pick




a name out of the hat, how much better would you be able to do the




second time around, having had the experience of the first one which




obviously was tackled?

-------
   374
     Dr. Yoder:  I would prefer to give you a written answer  to  that




question.




     Dr. First:  I do not mean to push you.   I just wonder  so we would




have some basis.




     Dr. Yoder:  I would just be picking a number out of  the  air.




I would rather give you a well thought out evaluation than  a  guess.




(Added note:  an answer to this question is contained in  supplemental




information submitted by the AEG.  See Vol.  3).




     Dr. First:  One last question,  if I may:  You have indicated there




are three areas where plutonium is being used at  the present  time.




     One of these would be in the civilian power  area,  eventually if




it becomes commercial?




     Dr. Yoder:  Yes.




     Dr. First:  Would you give us any estimates  of what  percentage




of plutonium usage would be in the civilian power program at  some




date such as 1980, 2000 or 2020?




     In other words, if we did not have a civilian power  program using




plutonium, would there still be a large plutonium industry?




     What I am trying to do, again,  is to get some idea of  what  the




implications of civilian power is in using plutonium, what  it might




be on a total?




     Dr. Yoder:  I do not have an answer.  I could try to give one,




perhaps, if you wish.  Perhaps Mr. Rogers tomorrow will be  able  to shed




some light on that particular question.

-------
                                                                          375
     Dr. First:  Thank you.




     Dr. Mills:  Dr. Taylor?




     Dr. Taylor:  No questions.




     Dr. Mills:  Dr. Yoder, there are two questions here which came




from the floor which I would like to give to you and let you respond.




     In regard to the stated benefits of the breeder program, does




the EIS you referred to include the cost of the safeguards program?




If so, what dollar value is assigned to the impact on civil liberties?




     Do they include this in the safeguard program?  If so, what




dollar value is assigned to the impact on civil liberties?




     Dr. Yoder:  Dr. Sinclair.




     Dr. Sinclair:  I do not believe any value has been assigned




to it because no one knows how to.




     Dr. Mills:  A ten percent financial benefit was stated for the




breeder program.  Is this benefit at the usual discount rate when




applied to the capital cost, or must a special discount rate, as in




the draft EIS, be needed to show the benefit?




     Dr. Sinclair:  I do not recall a 10 percent financial benefit.




That term is meaningless to me.  Ten percent discount perhaps was




used as one of several cases analyzed.




     That is the discount rate at which the extrapolated dollar




benefits are brought back to present worth.  The answer is, yes, with




the 10 percent discount rate, the benefits are still substantial.




That is, the ratio of the cost of the program to the accrued benefits,




even after a 10 percent discount rate is applied remain substantial.

-------
  376
     Dr. Mills:  I think it had reference,  as Dr.  Radford has pointed




out, on page 4, the top of the page,  the second sentence.




     Dr. Sinclair:  That has to do with the capital requirements.   The




capital requirements of the electric  utility industry have been




estimated with and without the breeder.




     The breeder is expected to be somewhat more capital intensive




than non-breeding competitors such as light-water  reactors; obviously




more capital intensive than fossil fuel plants.




     Nevertheless, it does offset the need  for developing uranium mines,




uranium milling, and it does offset the need for additional gaseous




diffusion capacity.




     These savings in capital otherwise would be lost if the breeder




were not present and they would be greater  than the additional capital




cost estimated for the breeder.




     Dr. Mills:  Thank you very much, Dr. Yoder.




     The next topic is "Environmental Levels" and  Dr. Ed Wrenn and




Dr. Bennett.

-------
                                     - 89  -
                                                                              377
      ENVIRONMENTAL LEVELS OF PLUTONIUM AND THE TRANSPLUTONIUM ELEMENTS
                            by McDonald E. Wrenn, Ph.D.
                       U.  S. Atomic Energy Commission
               Division of Biomedical and Environmental Research
                     part of the AEC presentation at the
                      EPA Plutonium Standards Hearings
                     Washington, D. C., December 10-11,  1974
Introduction
     My name is McDonald E. Wrenn.  I am a member of the biomedical  programs

staff of the Division of Biomedical and Environmental Research of the  United

States Atomic Energy Commission.  This testimony was assembled with  the

assistance of the staff of the AEC Health and Safety Laboratory and  the

Division of Operational Safety.  Supplementary written testimony from

Edward P. Hardy, Jr. of the AEC Health and Safety Laboratory will also be

submitted for inclusion in this presentation.

Objective

     This section briefly summarizes information about the locations,  amounts,

origins and distributions of plutonium and transplutonium elements present

in the environment, available for environmental transport, and not readily

amenable for retrieval.

     The summary and analysis presented here is drawn largely from AEC-

generated information in the public domain and selected references are

given where appropriate.

Units of measure

     The total amounts of plutonium and transplutonium elements will be

expressed in curies (Ci) or kilocuries (kCl), the amounts found deposited

upon the earth's surface will be expressed in activity per unit area --
                                           2
in millicuries per square kilometer («Ci/km ), or activity in soil in

-------
  378
- 90 -
               -12
 picocuries (10    curie)  per gram (pCi/g),  or in the case of air  in


                -IS                              3
 femtocuries (10    curie)  per cubic meter (fCi/m ).   It  will become




 apparent  that  the range of activities to which we need to refer exceed



      Environmental plutonium can  be  described in  two  general  categories



 namely that which is widely  or globally distributed  and  that  which  is of



 limited distribution and attributable to  a  local  source.



   Globally distributed levels of  plutonium  and the transplutonic elements.




 Estimates of  the  amount of globally  distributed plutonium are shown in



 Table 1.   There are two sources,  nuclear weapons  testing and  space  nuclear



 applications.   Our best estimate  of  the global inventory is 460,000 curies,



 primarily of  plutonium-239 and 240,  which are both alpha emitters with half



 lives of  24,000 years and 6,600   years, respectively.  Most  of the  activity



 (about 607o) is Pu-239, but the analytical techniques  commonly used  to measure



 environmental plutonium cannot distinguish  between the 239 and 240, and



 accordingly the reported measurements which are  sometimes expressed for



 brevity as Pu-239 activity are generally  the sum of  the  two  alpha activities.



 A source  of Pu-238, about  17,000  curies was released when an  isotopic



 generator used in the space  nuclear  program burned up in the  atmosphere in



 1964.



      The  estimates of plutonium associated  with  weapons  testing are essentially



 those made by Harley in 1971^ updated through  1973. The estimate of globally



 distributed Pu was based on  the results of  a soil sampling program  conducted



 in 1970-71 by the Health and Safety Laboratory of the AEC  specifically



 designed  to evaluate Pu.  Cores of soils  were collected  around the  world



 at Locations  selected to best represent the cumulative deposition.  From the




amount of  Pu-239,  240 measured in  each sample, the amount per unit area was

-------
                                     - 91 -



calculated.  The global inventory in Table 1 was constructed by summing the


products of the areas in given latitude bands by the areal density of


Pu-239,240 present there.


     The total inventory from weapons testing was deduced from multiplying


estimates of all fission yields in testing to date by the known yield of

                                              C 2)
Sr-90, and the measured ratio of Pu-239/Sr-90.  '  This ratio has not varied


greatly over the years of weapons testing.  Estimated in this manner the


total Pu-238,239,240 injected into the atmosphere in weapons testing is


approximately 440,000 curies.  Other transplutonium elements are produced in


nuclear weapons testing although relative to Pu only americium (Am-241) is


significant in activity, comprising about 25% (110,000 curies) of the present


Pu alpha activity.  This estimate of the quantity of Am-241 is based on the


relative activities measured in soils.  A roughly equal amount of Am-241 will


build in from already extant Pu-241.  An estimate of the amount of curium


(Cm-245,246) produced in all weapons tests of 90 curies has also been made

                                         (3)
using the approach of Thomas and Perkins.     This estimate, which is roughly


a thousand fold lower than the estimates for Pu and Am,was made by applying


nuclide yields determined in a single test to all tests, and is accordingly


only approximate.


     The great bulk of nuclear weapons testing occurred prior to 1963 and


the accumulated deposition from this early testing on the earth's surface


is almost complete.


     Figure 1 shows the yearly deposition of Pu-239 measured in New York


since 1954; 1963 was the year of peak deposition.  Figure 2 shows the


cumulative deposition which is now increasing slowly.  90% of the current


cumulative deposition had occurred by the end of 1965.
379

-------
   380                             -92-




     The present stratospheric inventory is about  17» of the  amount which




has been deposited on the earth's surface and the  concentration  of Pu-239




in surface air sampled at Richland,  Washington,  since 1962,  which is  shown




in Figure 3 shows that the concentration of Pu-239,240 in  ground level  air




(expressed in disintegrations per minute per thousand standard cubic  meters




of air) has decreased considerably since the early 1960's.'  '  The sustained




concentrations of Pu-239,240 in ground level air during the  last several years




result from nuclear weapons testing  in the atmosphere by China and France.




The increased ratio of Pu-238/Pu-239 in 1966 reflects the  arrival in  ground




level air of Pu-238 from the SNAP-9A burnup in 1964.




     Accordingly the bulk of the plutonium and transplutonium elements




produced in weapons testing have already deposited on the  earth's surface.




At any given terrestrial location, the cumulative  accumulation may differ




from cumulative deposition depending on the site if erosional processes  are




at work which may accentuate accumulation or deplete it.   In addition




the cumulative deposition also may vary with location at a given latitude




due to variation in depositional processes such as rainfall. Accordingly,




the distribution of plutonium is not uniform on the earth's  surface.




     Figure 4 shows how Pu-239 was distributed between the northern and




southern hemispheres, as of 1970-71.  About 250 kilocuries were  dispersed




in the northern hemisphere and 70 kilocuries in the southern hemisphere




making the total global inventory 320 kilocuries.   For comparison, about




16 kCi had deposited on the conterminous United States and about 3 kCi




on the Australian continent which is of comparable area.   The distribution




of Pu-239 with latitude should be essentially the  same as  for Sr-90,  shown




in Figure 5.  The highest deposition of Pu-239 is  in the mid-latitudes  of




the northern hemisphere and it falls off toward the north  pole.  There  is




a low in the equatorial region and then a small rise in the  mid-latitudes

-------
                                      - 93  -


                                                                                381
of the southern hemisphere, again dropping toward the south pole.


     The total deposit of Pu-238 is about 7 percent of the Pu-239  and the


SNAP-9A debris is a major contributor, particularly in the southern hemis-


phere.  The Pu-238 from the SNAP device almost tripled the global  deposit


of this plutonium isotope and we know from stratospheric measurements that


it has essentially all been deposited.

                                                         2
     Figure 6 shows the Pu-239 accumulation in mCi per km  at various


locations in the United States.  Generally the drier areas are lower than


the wet areas indicating that precipitation scavenging is an important mechanism


for bringing nuclear debris to the surface.  Fallout in some western areas


is higher per unit of precipitation than in sites along the Pacific coast


or east of the Mississippi.  Evidence seems to indicate that these are regions


where stratospheric debris preferentially enters the troposphere and is


deposited.  Most of the values for this limited sampling program across the


U.S. vary by only a factor of 3 or 4, and within a particular constant


rainfall region the variability in deposition appears to be much smaller.


     Much information about the distribution and variability of Pu-239,240


in soils can be obtained by comparison with Sr-90 and Cs-137 which have


been studied much more extensively.


     For example, the vertical distribution of plutonium in soils  has been


determined at a few sites; whereas the vertical distribution of Sr-90 and


Cs-137 have been studied at many.  Globally deposited Pu-239,240 is


deposited initially as small particles which do not remain indefinitely on


the surface.  Figure 7 shows the vertical distribution of Pu-239,  Sr-90,


and Cs-137 in a sandy loam soil sample from New England.  Most of  the


deposited plutonium is in the top 5cm (2 inches)  and its distribution is

-------
382                                -94-
 similar to that  of  Cs-137.  Both nuclides can be found in measurable




 concentrations down to  20 cm  (8 inches) but the amount below 5 cm is only




 about 20 percent of the total.  Strontium-90, by comparison, is less retained




 in the top soil  and can be  found to 30 cm (12 inches) so one can conclude




 that it is migrating at a faster rate than Pu-239 or Cs-137.




      Accordingly, the concentration of plutonium inferred from measurements




 in surface soils will depend  on the depth of the sample and the variation




 of Pu-239,240 concentration with depth.  The vertical distribution will




 most likely change  with time  at varying rates in different types of soils




 and different environments.   The factors which influence the rate of vertical




 migration are not well  understood and are the subject of active investigation.




      In Table 2  the widespread plutonium alpha activity is compared with




 the total alpha  activity from naturally occurring actinides in soil, using




 the continental  United  States as a model and assuming that soils contain




 about 1 pCi/g of both uranium and thorium.  Approximately 4.4 million curies




 of natural alpha emitters are present in the top 2 centimeters of soil of




 which approximately 1.6 million curies are alpha emitting actinides




 (Uranium and Thorium).   Compared in this manner the concentration and amount




 of alpha activity from  Pu-238,239,240 in surface soils (the top two centi-




 meters) is about 17o of  the  natural background actinide activity.




      Representative concentrations of Pu-239 in air, soil, ocean water, and




 human tissue  '  ' '  are shown in Table 3, all expressed in pCi/g of




 medium, with selected measurements chosen around 1971 and 1972.




      The lowest  concentration is found in surface air.  This reflects the




 transient nature of the atmospheric content.  Ocean water, soil, and human

-------
                                     - 95 -



tissue all show higher concentrations partly as a result of accumulation


of material over many years.  Surface ocean water was typically an order


of magnitude higher than air but much lower than soil due to efficient


dilution to great depths.  In addition there has been some removal to the


marine sediments.  The concentration in human lung tissue reflects continued


accumulation from air by breathing and the relatively slow removal of material

                                                   (5)
from lung or lymph tissue (see Bennett's testimony).   The highest concen-


trations are observed in surface soils.  These relatively higher concentrations


result from the cumulative nature of the deposit on the surface and the very


slow downward rate of migration into the soil.


     There are to my knowledge no good estimates of the total amount of


globally distributed plutonium in biota.  However, this has been studied in


local ecosystems





Local Accumulations


     Local accumulations of plutonium may occur in association with specific


facilities or activities.  Table 4 lists the estimated local cumulative


releases and inventories in excess of 0.1 curie which are environmentally


available for a selected number of AEG and AEC contractor sites.  These


estimates are drawn from cumulative measurements of liquid and gaseous


releases, evaluations of non-routine releases such as accidents, annual


routine environmental surveillance reports, and environmental measurement


programs designed to provide information on environmental inventories.


Because soil measurement programs, useful for estimating the amount in the


environment from soil measurements alone, are still in progress at
383

-------
  384                            -96-




most facilities, estimates of environmentally available  amounts may


change as more complete information becomes available.   In Table  5


the maximum off-site surface soil concentrations which have been


observed are listed.  These values are drawn from the reported environ-


mental surveillance program results for individual operational facilities


and sites.  '  The results of the environmental surveillance program for


all sites are reported annually in the EPA publication of  Radiological


Health Data.  In addition, a compendium of the results of  all sites

                                                               /Q \
and facilities programs is assembled annually as an AEC  report.


     The sources fall in five general categories, which  are nuclear


weapons testing, nuclear weapons accidents, major AEC production  and


test sites, AEC contractor industrial type facilities, and purposeful


release of wastes under controlled conditions to the environment.


Nuclear weapons testing can be a source of local contamination both


surface and sub-surface.  The U.S. test areas include the  Nevada  test


site and the pacific testing sites, Bikini and Enewetak.  An extensive

                                                                  9
radiological survey and evaluation has been completed for  Enewetak


where concentrations in soil range from 30 to 3000 pCi/g.   This


evaluation concludes that the Pu present will not seriously limit


the reinhabitation of the atoll.  In fact the most limiting nuclide


in terms of dose is Sr-90.


     The behavior of environmental Pu has been under study at the Nevada


Test site for many years.  Early intensive studies were  conducted during


and following tests, and presently intensive studies are underway to


evaluate the environmental behavior of Pu which has been in situ  from


one to close to two decades.  Under investigation are  such aspects as


the vertical and horizontal migration of Pu and Am in  soils, the  factors

                                                                   (10)
which affect resuspension, and the particle size of resuspended  Pu.     An

-------
                                     -"-                                   385



inventory of material available from such testing at the Nevada Test




Site is underway but not complete.  Most of the material on the surface




of the site is inside government site boundaries.  Some of it is available




for transport by wind but much of it has been either weathered or treated




to minimize redistribution.



     Nuclear weapons accidents near Palomares, Spain (1966),  and Thule,




Greenland (1968), resulted in local environmental contamination.  Extensive




decontamination was effected at each site.  From the Thule accident   '




it may be estimated that about 25 Ci are in marine sediments  and surface




soils.  The residual plutonium in Spain is being followed by  the Junta de




Energia Nuclear.   '     These accidents are discussed briefly in the




supplementary material provided.




     There has been little offsite environmental contamination at major




AEC development, production and testing facilities, including Hanford,




Idaho, Savannah River and Oak Ridge.  The amounts of materials stored in




wastes at these facilities were discussed in section B as well as releases




onsite to treatment and disposal systems such as seepage basins.  Only




small portions of these have become environmentally available.  This



question is treated in environmental statements being prepared for the


                                       (9)
major AEC production and testing sites.     The environmentally available



amounts (i.e., available on the surface for transport by wind) are not well



known.  However, it is probable that these numbers do not exceed a few tens




of curies.  For example, at Savannah River about 5 Ci has been released




to the atmosphere and surface soils, of which approximately 2 Ci is estimated




to be outside the site boundaries.  However, the cumulative amounts measured

-------
  386
- 98 -
                                        2
in soil at the site boundary (1.9 mCi/km  for 10 cores  taken at  4  locations)


are not distinguishable from the background levels from global fallout


(1.8 mCi/km  at 160 km radius,  10 cores from 3 locations).


     Another category consists  of industrial type facilities such  as


Mound Laboratories and Rocky Flats.  Pu contamination of the environment


around Rocky Flats has been reasonably well documented  and  is described


in a series of HASL reports published in recent years.    '   '     Our best


estimate is that several curies are distributed off-site and on  the order


of ten curies in surface soils  on-site.


     The following are examples of purposeful release of wastes  to the


environment.  The U.K. for many years has made it a policy  to dispose


at sea of some of their intermediate level wastes which contain  plutonium


and americium.  Upwards of 3000 curies of & activities  have been disposed


of in this manner from a pipe at Windscale into the Irish Sea; this


activity is probably half Pu and half Am.  Between 1951 and 1963 the


U.S. disposed at sea of about 6400 Ci of drummed wastes described  as


plutonium contaminated.  In 1971-72, the European Nuclear Energy Associa-


tion disposed of a large number of 55 gallon drums of solid wastes contain-


ing an estimated 1300 curies of alpha-emitting wastes.   Local releases  in


foreign countries other than the examples just cited have not been


summarized here, although they  may influence local radionuclide  concentrations.


     In summary, it may be concluded that the major transuranic  activity


in the environment is composed  of plutonium and americium from weapons


testing and that this material   is detectable in surface soils around the


world, although their presence  raises the alpha background  in surface soils

-------
                                     -99-                                    387





generally less  than  1%.  The Pu and Am activity  per gram near the surface



will decrease slowly with time.  Finally,  local  sources of plutonium



although much smaller  in quantity than that from globally distributed



weapons testing fallout can result in concentrations of Pu in soil exceeding



the concentrations of  the global level from weapons testing.

-------
    388
- 100 -
 Selected References

 1.   J.  H. Harley,  "Worldwide Plutonium Fallout  from Weapons Tests," p.  13-19,
      Proceedings  of Environmental Plutonium  Symposium IA-4756, Los Alamos,
      New Mexico,  1971.

 2.   Testimony of Edward  P.  Hardy, Jr.,  "Worldwide Distribution of Plutonium"

 3.   C.  W. Thomas and R.  W.  Perkins,  "Transuranium Elements in the Atmos-
      phere," BNWL-1881  UC-48,  Battelle Pacific Northwest Laboratories,
      presented at the ANS  Meeting,  Washington, D.C.  1974.

 4.   Testimony of Herbert L. Volchok,  "Transuranic Elements in the Marine
      Environment"

 5.   Testimony of Burton  G.  Bennett,  "Plutonium  Fallout Pathways to Man"

 6.   F.  W. Whicker, C. A. Little,  and T. F. Winsor, "Plutonium Behavior  in
      the Terrestrial Environs  of the Rocky Flats Installation," IAEA Sym-
      posium on Environmental Surveillance Around Nuclear Installations,
      IAEA/SM-180/45, Warsaw, Poland, 1973.

 7.   Annual Reports of Environmental  Surveillance at AEG  Facilities and
      Contractors  Facilities.

 8.   Environmental  Monitoring at Major USAEC Contractor Sites, CY 1973,
      WASH-1259, 1973

 9.   NVO-140, "Eniwetok Radiological  Survey,"  USAEC, Nevada Operations Office,
      Las Vegas, Nevada, October, 1973.

10.   NVO-142, "The  Dynamics  of Plutonium in Desert Environments," Nevada
      Applied Ecology Group Progress Report,  July 1974.

11.   H.  A. McClearen, "Plutonium in Soil at the  Savannah  River Plant,"
      DPSPU 74-30-14, Second AEC  Environmental  Protection Conference,
      Albuquerque, New Mexico,  1974.

12.   P.  W. Krey and E. P. Hardy, "Plutonium in Soil around the Rocky Flats
      Plant,"  USAEC Report HASL-235, 1970.

13.   P.  W. Krey and B. T. Krajewski,  "Plutonium  Isotopic  Ratios at Rocky
      Flats," USAEC Report  HASL-249, 1972.

14.   H.  L. Volchok, R. Knuth, and  M.  Kleinman, "Plutonium in  the Neighborhood
      of Rocky Flats, Colorado:  Airborne Respirable  Particles," USAEC
      Report HASL-246.

-------
                                      - 101 -
                                                                              389
15.   "USAF Nuclear Safety," AFRP  122-1,  Jan/Feb/March  1970, No,  1,
       Vol. 65 (Part 2)  Special Edition.

16.   A. Aarkog,  "Proceedings of the International  Symposium on
       Radioecology Applied to the Protection  of Man and  His
       Environment," pp.  1213-1218, Rome,  Italy, September 1971,
       (CONF 710973, EUR-4800, Vol. 1,  2).

17.   "First Results from the Programme  of  Action Following the
       Palomares Accident," E. Iranzo,  Junta de Energia Nuclear  -
       Madrid, Spain, Symposium on Radiation Protection of the
       Public in a Mass  Disaster, International Radiation
       Protection Association (IRPA), Interlaken 1968.

18.   "Experience of an Accidental Contamination by Radioactive
       Materials, Palomares, Spain (1966)," E.  Ramos and  E. Iranzo,
       Junta de Energia  Nuclear,  Madrid, Spain, Second International
       Civil Defense Symposium on Nuclear  Radiation Hazards, Monoco,
       1966.

-------
390
- 102 -
                                               CO

-------
                     - 103 -
                                          391
           Figure 3. 238Pu AND 239Pu IN SURFACE AIR, 45°N
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       1962    1964     1966     1968    1970     1972

-------
392
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396
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-------
    398
                                Table 3




                 Representative Concentrations of Pu-239

                      in Various Media (Circa 1971)


Media                                                       pCi/g


Air (Richland, Washington 1971)                            1 x 10~7


Ocean water (surface)                                      5 x 10


Human tissue (lung - U.S. 1971)                            3 x 10"4

                                                                _2
Soil (Northeast U.S.,  top 5  cm.)                           5 x 10

-------
                         - Ill -
                                                        399
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-------
                                      - 115 -
                                                                             401
                     WORLDWIDE DISTRIBUTION OF PLUTONIUM
                           by Edward P. Hardy, Jr.
                        Health and Safety Laboratory
                       U. S. Atomic Energy Commission
                           New York, N. Y.  10014
                     part of the AEC presentation at the
                      EPA Plutonium Standards Hearings
                     Washington, D. C., Dec. 10-11, 1974
Introduction

     It is certainly clear that plutonium contamination of the environment

on a global basis is primarily the result of atmospheric nuclear weapons

testing.  There are localized areas where plutonium contamination has

occurred through accidents or inadvertent releases from nuclear facilities.

The total amounts released are on the order of curies as compared with

hundreds of thousands of curies from nuclear tests.  Contamination levels

in these areas are documented and studies are being carried out to follow

the movement of plutonium through the eco-system pathways to man.  For the

future, however, it is important to know how plutonium from nuclear tests

is distributed because this so-called "background" will be the baseline

against which perturbations of the environment by the escalating nuclear

industry must be assessed.

Nuclear Tests

     Most of the plutonium now dispersed around the world was produced by

nuclear tests conducted through 1962.     The above-ground tests carried

out by the People's Republic of China in the Northern Hemisphere and France

in the South Pacific since 1963 have contributed an additional ten percent

-------
    402
                        (2)
to the global inventory.     The principal isotopes of plutonium that have



been measured are Pu-239,240 and Pu-238.  These are the isotopes that



have been produced in greatest abundance.  With time, a daughter isotope -



Am-241, will become an important contributor.



SNAP-9A



     Although its contribution to the plutonium radioactivity now dispersed



over the earth is relatively small it is worthwhile noting that Pu-238 was



released in the high stratosphere in April 1964 when a nuclear powered



satellite failed to achieve orbit and disintegrated.  This Pu-238 has now



settled out on the earth's surface and constitutes a substantial increment


                                         (3)
to the Pu-238 fallout from nuclear tests.



Sampling Programs



     The Atomic Energy Commission has traced the dispersal of plutonium from



atmospheric tests and the SNAP-9A satellite through its sampling programs



in the stratosphere, and at ground level.  I intend to review the measured



levels and show how this radioactivity has changed with time.  To give some



perspective to the amount of plutonium produced, the Pu-239,240 radioactivity



is about 2 to 3 percent of the long-lived fission product Sr-90 radioactivity.



The Pu-238 radioactivity from nuclear tests is only 2 to 3 percent of the



Pu-239,240 radioactivity.  From now on when I refer to Pu-239 it can be



inferred that I mean Pu-239 + Pu-240 because these two isotopes cannot be



distinguished by conventional alpha spectrometry.



Stratosphere



     Figure 1 shows the amount of Pu-239 in the stratosphere as a function



of time.  The unit is kilocuries and separate curves are given for the



northern and southern hemispheres.  After the intensive period of testing

-------
                                     - 117 -
                                                                               403
in 1961 and 1962, the levels of Pu-239 declined with a half residence time

of 10 to 11 months.  Since 1967, sporadic testing by France and the People's

Republic of China has maintained relative constant or only slightly

diminishing amounts of Pu-239 in the stratosphere  up to the present time.

     Figure 2 represents the amount of Pu-238 in the stratosphere from

the satellite called SNAP-9A.  This was a one-time input and it is now

impossible to distinguish the level from this source against the Pu-238
                                                           (4)
from nuclear tests.  The SNAP device released 17 kilocuries    while the

total amount of Pu-238 that reached the stratosphere from weapons tests

was about 9 kilocuries.

Surface Air

     Throughout this period of weapons testing, it is generally agreed that

human exposure to plutonium is primarily through inhalation.  The surface

air concentrations of Pu-239 in New York City as illustrated in Figure 3

show that at peak level in 1963 the concentration was 1.7 femtocuries per

m  or about 9 percent of the most conservative concentration guide for

populations.     Recent surface air concentrations attributable primarily

to Chinese tests in the northern hemisphere are about 4 percent of this

peak level.  To assess the inhalation hazard, the fraction of the total
concentration which may deposit in the nonciliated portion of the lung,

must be known.  Measurements of this so-called respirable fraction indicate
that 80 - 85 percent of the Pu-239 aerosol is associated with particle

sizes that are respirable.     These data refer only to plutonium from

weapons tests.

-------
 404
- 118 -
Deposition


     Measurements of deposited plutonium have made it possible to estimate


the total amount on the earth's surface and to determine how it is distri-


buted.  A properly selected soil sample can represent the accumulated


deposit, and, based on a worldwide soil program carried out in 1970-71,


Figure 4 shows how Pu-239.is distributed between the northern and southern


hemispheres.  About 250 kilocuries is dispersed in the northern hemisphere


and 70 kilocuries in the southern hemisphere making the total global inventory


320 kilocuries.  For comparison, about 16 kCi has deposited on the conterminous


United States and about 3 kCi on the Australian continent which is of


comparable area.  The highest deposition of Pu-239 is in the mid-latitudes


of the northern hemisphere and it falls off toward the north pole.  There


is a low in the equatorial region and then a small rise in the mid-latitudes


of the southern hemisphere, again dropping toward the south pole.


     The total deposit of Pu-238 is about 7 percent of the Pu-239 but the


SNAP-9A debris is a major contributor, particularly in the southern hemis-


phere (see Figure 5).  The Pu-238 from the SNAP device almost tripled the


global deposit of this plutonium isotope but we know from stratospheric


measurements that it essentially all deposited.

                                                 2
     Figure 6 shows how much Pu-239 in mCi per km  has deposited at various


places in the United States.  Generally the drier areas are lower than the


wet areas indicating that precipitation scavenging is an important mechanism


for bringing nuclear debris to the surface.  Fallout in some western areas


is higher per unit of precipitation than in sites along the Pacific coast


or east of the Mississippi.  Evidence seems to indicate that these are


regions where stratospheric debris preferentially enters the troposphere and

-------
                                    - 119  -


                                                                               405




is deposited.  '  The extremes in Pu deposition for the stratospheric




source vary by only a factor of 3 or 4 and within a particular constant


                                                                       / o \

rainfall region, the variability in deposition is less than 15 percent.




     The total deposit of plutonium in the region of Salt Lake City is about




two times higher than expected from global fallout.  The excess plutonium




probably came from the high explosive detonations involving unfissioned



                                                                           (9)
plutonium that were carried out at the Nevada test site in the late 1950's.




     The deposition rate of Pu-239 with time can be illustrated for New




York City (see Figure 7).  The pattern is similar to that for surface air,




as expected.  By integrating these rate data, the total deposit is in good




agreement with the more direct measurement in soil.




     Some information on the depth distribution of plutonium in soil is




available which shows that most of the deposited plutonium is in the top  5




cm (2 inches) and that its distribution is similar to that of Cs-137, the




most abundant long-lived fission product generated in nuclear tests.  Both




nuclides can be found in measurable concentrations down to 20 cm (8 inches)




but the amount below 5 cm is only about 20 percent of the total.  Strontium-90,




by comparison, is less retained in the top soil and can be found to 30 cm




(12 inches) so one can conclude that it is migrating at a faster rate than




plutonium or cesium.



         241
Americium




     It was mentioned earlier that Am-241 is a daughter of the isotope




Pu-241 which builds up with time.  Knowledge of its behavior in the environ-



ment is important because its chemical properties are different from




plutonium.  The few measurements that have been made of this nuclide in




fallout show that its activity level is about 25 percent of that from

-------
  406
                                     - 120 -
Pu-239.  Despite elemental differences,  Am-241  from global  fallout  shows




a depth distribution in soil similar to  Pu-239  but  further  measurements




are needed.




Summary




     Nuclear tests conducted in the atmosphere  are  the  major  sources  of




plutonium contamination on a worldwide basis.   About 320  kilocuries of




Pu-239 have deposited and about 4 kilocuries  remaining  in the stratosphere




will reach the earth's surface.  Measurements are being made  of  air concen-




trations at ground level and the deposition rate.   Inhalation is the  major




route of human exposure and later testimony will be presented to show the




resulting body burden.  Contamination levels  in foods have  also  been




measured and the comparatively smaller body burden  from ingestion will also




be discussed.

-------
                                      - 121 -

                                                                               407
 References

 1.  Harley, J. H.
     Worldwide Plutonium Fallout from Weapons Tests
     USAEC Report,  LA-4756,  Los Alamos,  pp.  13-17, Dec.  1971

 2.  Estimated from information provided by the  news
       media and other unclassified sources

 3.  Hardy, E., P.  Krey and  H.  Volchok
     Global Inventory and Distribution of Fallout Plutonium
     Nature, 241, No. 5390,  pp. 444-445, Feb. 16, 1973

 4.  Krey, P.
     Atmospheric Burn-up of  a Plutonium-238 Generator
     Science, 158.  No. 3802, pp. 769-771, Nov. 10, 1967

 5.  International Commission on Radiological Protection
     Report of Committee II  on Permissible Dose  for Internal  Radiation
     ICRP Publication 2 (1959)
     Assuming soluble plutonium with bone as the critical organ
       and based on 1/30 of  the occupational level for a 168  hour week

 6.  Volchok, H., R. Knuth and M. Kleinman
     The Respirable Fraction of Sr-90, Pu-239 and Pb  in  Surface Air
     USAEC Report HASL-278,  pp. 1-36 to 1-40, January (1974)

 7.  Volchok, H. L.
     High Fallout in the Western United States - An explanation
     USAEC Report HASL-257,  pp. 1-18 to 1-32, July (1972)

 8.  Hardy, E.
     Regional Uniformity of  Cumulative Radionuclide Fallout
     USAEC Report HASL-288,  pp. 1-2 to 1-9,  January (1975)

 9.  Hardy, E., P.  Krey and  H.  Volchok
     Plutonium Fallout in Utah
     USAEC Report HASL-257,  pp. 1-95 to 1-118, July (1972)

10.  Hardy, E.
     Depth Distributions of  Global Fallout Sr-90, Cs-137,  and
       Pu-239,240 in Sandy Loam Soil
     USAEC Report HASL-286,  pp. 1-2 to 1-10, October  (1974)

-------
408
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-------
  .05
                                            - 123 -

                                           FIGURE 2
                          STRATOSPHERIC INVENTORY OF SNAP-9A Pu-238
                                                               409
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-------
410
- 124  -
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-------
                                                                          415
     Dr. Radford:  Dr. Wrenn, what is the ordinate on Figure 3?  Can




you put numbers there on the concentration?




     Dr. Wrenn:  The reference by Perkins does not have the numbers on




them, but the units he uses are disintegrations per minute per thousand




standard cubic meters.  (Note added:  the numerical values have been




added to Figure 3 which displays the information requested by




Dr. Radford.)




     Dr. Radford:  But he did not put numbers on his?




     Dr. Wrenn:  He did not have the numbers on his.




     Dr. Radford:  That is rather strange, to publish in a scientific




journal, a graph with no numbers on it.




     Dr. Wrenn:  I think his point was to point out the relative change




with time and the increase in the isotopic ratio at this particular




point.




     Also, to point out the continued input from atmospheric testing,




rather than to point out the absolute values of these numbers.




     Table 3 shows the average concentration of Pu-239 in air at




Richland for 1971.




     Dr. First:  Does Table 4 list accumulated material per site,  is




that it?




     Dr. Wrenn:  Table 4 is a rough estimate of the amount available




per site, yes.




     Dr. First:  The units you have there are quantity per what,  per




site?




     Dr. Wrenn:  Total curies per site.   Roughly up to the end  —  Well,

-------
416
   the dates on each of those are  not  the  same,  but,  say,  1972  is  maybe  a .
   good mean.
        Dr.  First:   All right.
        Dr.  Wrenn:   The Rocky Flats  number,  for  example, is  a little  more
   up to date than  that.
        Dr.  Mills:   We will hold further questions  on this until we hear
   from Dr.  Bennett.
        Dr.  Parker:   Dr.  Wrenn, you  stated you borrowed  from Dr. Perkins,
   a former  colleague of mine at Richland.
        Comments were made by the  panel on the competence  of Dr. Perkins
   as a scientist.   I happen to consider him one of the  finest  in  the
   country.
        May  I ask,  Mr. Chairman, that  you  address yourself by letter  to
   Dr. Perkins to have him clear up  the question of the  graph that was
   shown.
        Dr.  Mills:   Yes,  sir. Surely.
        Dr.  Wrenn:   I would like to  say that I consider  Dr.  Perkins highly
   competent.  I was talking with  him  last night rather  late about this.
        In my remarks, I certainly meant nothing to reflect  improperly
   on Dr. Perkins.   In fact, his is  one of the finest collections  on  long
   term environmental data available.
        Dr.  Mills:   Dr. Bennett?
        Dr.  Bennett:  My name is Burton Bennett. I am a research  scientist
   at the AEC Health and Safety Laboratory in New York.
        I would like to present for  your consideration a brief  discussion
   of the "Environmental Pathways  of Transuranic Elements."

-------
                                                                               417
               ENVIRONMENTAL PATHWAYS OF TRANSURANIC ELEMENTS


                              Burton G. Bennett


                        Health and Safety Laboratory
                       U. S. Atomic Energy Commission
                          New York, N.Y.  10014


                         I.  GENERAL CONSIDERATIONS

     Exposure of man to transuranic element contamination may occur by the

inhalation or ingestion pathways.  A large number of laboratory and ecological

studies have been performed or are in progress to elucidate specific aspects

of these pathways, such as resuspension of deposited activity, plant uptake,

and physical and biological transfers in terrestrial and aquatic environ-

ments.  In addition, the measurements of fallout plutonium, tracing the

course of this material in air and diet to man, provide some of the most

directly appropriate data regarding the environmental pathways.

     It is generally recognized that for an initially airborne release, the

inhalation pathway is the dominant contributor to the body burden in man.

The low solubility of the transuranic elements Inhibits plant uptake and

absorption from the gastrointestinal tract and minimizes the importance

of the ingestion pathway.  The physical mechanisms of transfer of activity

are thereby emphasized instead of biological accumulation mechanisms.

     Dispersion of airborne radioactivity is governed by the local and

regional meteorology.  For contamination which originates on the ground

surface, such as leakages or spills, resuspension could be an important

consideration.  Radioactivity in air or in soil may reach plants by

deposition on plant surfaces or by root uptake.  Plant uptake is governed

-------
418
                                   - 132 -
by the isotope and soil chemistry and by the plant physiology.   Disposition




of inhaled or ingested material and the biological behavior have been




studied in numerous animal study programs.



     There have been a few good summaries,  reviews and bibliographies of



pathway considerations, as well as applications of such data in environmental


           (1-9)
statements.       I could not possibly elaborate here on all of the



accumulated data.  I can, at best, remind you of some of the considerations



and then present the fallout experience.



Resuspension



     Resuspension is a much discussed phenomenon.  Although its importance



is recognized in ground contamination situations, for initially airborne



releases, such as fallout radioactivity, resuspension has not markedly


                                              (9)
influenced the measured concentrations in air.     A very large range of



possible resuspension factors is often quoted - a range of 9 or 10 orders of



magnitude.  It is Important, however, to carefully distinguish between those



values which have been suggested for hazard analyses and those values that



might reflect more realistic situations.



     Measurements of resuspension have been conducted at contaminated areas



of the Nevada Test Site.  Soon after contaminating events, resuspension
factors (ratios of radioactivity per unit volume of air to radioactivity



                                                               ve been


                                                               (10-12)
                                              -4      -6  -1
per unit surface area of soil) on the -order 10   to 10   m   have been
obtained, decreasing subsequently with 35 to 70 day half-times.



We are often reminded of those results, 10   to 10  .   Less often, however,



are we reminded of the conditions under which they were obtained.   Langham



and his co-workers set out in 1956 to measure resuspension at the  Nevada

-------
                                     -133-                                    419

Test Site.  Having little initial success,  they found it necessary to assist
the micrometeorology.  They arranged to have heavy trucks roar back and forth
                                                                  (IS 1
in front of the air sampler.  The first value reported by Langham
7 x 10"5 m"1  is described as  obtained during "extensive vehicular traffic,"
A second value, 7 x 10"  m" , was derived  for "dusty rural air."  Langham  L '
had a  feeling that 10"  might be more appropriate for general usage, and
Stewart     also suggested that value for  "quiescent conditions." In later
years, subsequent to weathering and downward movement of plutonium in soil,
values of  10" to 10"   m"  have been reported.   '     The results for the
desert environment are admittedly not easily generalized to more  usually
inhabited  areas.
     An important constraint  in estimating  a realistically applicable general
resuspension  factor is the fallout experience.  Values should not be so large
that when  applied to the fallout deposition amounts, the measured air concen-
trations are  exceeded.  For fallout plutonium and as applied to natural
uranium in soil as a tracer, most reasonably assumed is a resuspension factor
            to 1
            (9)
     -9  -1
of 10   m   to be applied to accessible activity in soil (activity in top 1
cm or less).
     It is recognized that a number of parameters are involved in describing
the resuspension process, including soil conditions, moisture, wind, and
vegetative cover.  There may also be perturbations due to mechanical
disturbances, such as digging or traffic.  Activity may also be transferred
to the body or clothing which may also lead to additional intake.  Healy^6*
has discussed many of these considerations.  Research efforts under way
should provide increased understanding of the resuspension phenomenon and
allow better prediction of short-term effects.

-------
  420

                                     - 134 -





Plant Uptake



     A number of tracer studies have been conducted in which specific



influences of plant uptake of transuranic elements have been identified.



These factors include chemical form, solubility,  oxidation state of the



radioactive element, composition and pH of the soil, and plant species.


                                                                   (3)
Reviews of the various studies have recently been prepared by Price



and Francis   , and Durbin    has given detailed  treatment primarily of the



chemical considerations involved.  In Table 1, I  have made a further attempt



at synthesis.  Additional effort will be required to achieve completeness



and uniformity of reporting.



     The laboratory "pot experiments" are limited by the sometimes unusual



growing conditions or spiking methods and often involve seedling plants in



quite short duration studies.  One may worry about the extension of these



results to the edible portions of mature plants grown under field conditions.



On the other hand, the controlled experiments are better able to isolate the



factors which apply, and the data on relative uptake of several isotopes



are quite useful.  The lowest values of uptake in Table 1 may reflect the



short duration of exposure.      The highest values, field data from


                                                                        / ofi^

Palomares, may involve some direct contamination  as well as root uptake.



The result for peeled potatoes from soil contaminated by global fallout


                                               (22)
fits in well with the laboratory study results.



     Longer term experiments have not demonstrated significant uptake changes.


       (21)
Neubold   ' indicated a slight increase in uptake for ryegrass in a 2 year



experiment, but the data are inconclusive., since  the concentrations barely


                                          (32)
exceeded minimum detection levels.  Romney     reported a 7-fold increase

-------
                                    - 135 -                                 421



                                                                 (23)
in 5 years, due possibly to increased  root development.  Buchholz



found equal or greater variations in uptake measurements over a 4 year



period, but there was no  time trend.



     There appear to be no isotope differences in plant uptake, either for



plutonium or curium isotopes, though the data are not extensive.



     If one were to generalize on the  basis of the data on hand, one might



assign plant uptake of plutonium to be 10   (pCi/g fresh wt. per pCi/g



dry soil), plus or minus an order of magnitude, with uptake of americium



and curium about 30 times greater.



     Uptake from foliar deposition is  being studied.  Very little trans-
location of plutonium following deposition has been found in initial labora-



      xper:


      (22)
tory experiments,      in agreement  with fallout plutonium measurements  of
wheat.



Ecological Studies



     Ecological studies are in progress to assess the distribution of



transuranic contamination in plant and animal communities.         Changes



with time and any reconcentration processes will be investigated.  An im-



portant contributor of plutonium contamination of plants has been shown



to result from wind-borne activity deposited on plant surfaces.      The


amounts of activity present in small mammals have not been unusual,

                                              ( (\
                                                '
considering the exposure pathways which exist.


Aquatic Studies



     The only evidence for concentrations of transuranics above surrounding



background comes from studies of aquatic environments.  There, it is as



much the low retention of suspended activity in water as it is accumulations



in plant or animal organisms.  Plutonium is readily removed to sediments.

-------
  422                               " 136 "



 The  highest  activity  levels  in biota  are found in marine plants, with




 concentration factors as  great as  1000 (pCi/kg wet wt. per pCi/1 water).




 The  concentration  factors decrease with increasing trophic level.  The



                                                                   (19}
 general  behavior of plutonium in fresh water systems is comparable.




 I have appended a  summary of transuranics in the marine environment by




 Herbert  L. Volchok of the Health and  Safety Laboratory which includes a




 large  literature compilation.




Biological Behavior




     An excellent discussion of the entry of plutonium and  other actinides




into animals and man and the biological behavior is  presented in ICRP




Publication 19.      Absorption from the gastrointestinal  tract and entry




through intact skin and wounds  are considered.   The  ICRP  Task Group Lung




Model has been formulated to be used in determining  the disposition of inhaled




material.  Fractional deposition in the three lung regions  is determined by




particle size.  Three classes of transfer parameters,  dependent primarily




on chemical form of the inhaled material,  are provided to  determine subsequent




movement from the lung to other organs in the body or  to excretion. The




Lung Model provides a sound basis for considering inhalation intake.




Other Aspects




     There are many other aspects of environmental pathways which can  and




should be considered, such as mobility in soil,  chelation  effects on plant




uptake, wash-off from plant surfaces, and animal intake pathways with




transfer to meat and milk.  Much'data on these topics  is available and




more is being accumulated.  Let me go on,  however,  to  the  fallout experience.

-------
 References
                                      - 137  -
                                                                                 423
 1.  Langham, W.H.,  "The Biological Implications of th•  Transuranium Elements
       for Man," Health Phys. 22, 943 (1972)

 2.  Bair, W..T., R.C. Thompson, "Plutonium:  Biomedical  Research," Science,
       183. 715 (1974)

 3.  Price, K.R., "A Review of Transuranic Elements in Soils,  Plants, a-i-f
       Animals," J.  of Environ. Quality 2, 62 (1973)

 4.  Francis, C.W.,  "Plutonium Mobility in Soil and Uptake in  Plants:  A
       Review," J. of Environ. Quality 2, 67 (1973)

 5.  Durbin, P.W., "Transfer of Plutonium from Soil to Plants:  A Review
       of the Problem," Univ. of Calif. Report UCID-3689 (1974)

 6.  Healy, J.W., "A Proposed Interim Standard for Plutonium in  Soils,"
       Los Alamos Scientific Laboratory Report LA-5483-MS (1974)

 7.  Thompson, R.C., "Biology of the Transuranium Elements - A Bibliography,"
       Battelle Pacific Northwest Lab. Report BNWL-1782  (1973)

 8.  Environmental Plutonium Data Base Group, "Environmental Aspects of
       Plutonium and Other Elements - A Selected, Annotated Bibliography,
       Oak Ridge National Lab. Report ORNL-ETS-73-21 and 74-21 (1974)

 9.  Environmental Statement, "Environmental Impact of the LMFBR," USAEC
       Report WASH-1535, Sec. 4G.2 (1974)

10.  Stewart, K., "The Resuspension of Particulate Material from Surfaces,"
       in Surface Contamination (B.R.Fish, ed.) Pergamon, New  York pp.  63-74
       (1964)

11.  Langham, W.H,,  "Plutonium Distribution as a Problem in Environmental
       Science," Proceedings of Environmental Plutonium  Symposium, Los  Alamos
       Scientific Lab. Report LA-4756 (1971)

12.  Anspaugh, L.R., Phelps, P.L., Kennedy, N.C., Booth, H.G., "Wind-Driven
       Redistribution of Surface - Deposited Radioactivity," Proceedings of
       Environmental Behavior of Radionuclides Released  in the Nuclear
       Industry, IAEA, Vienna (in press)

13.  Anspaugh, L.R., et al., "Resuspension of Plutonium:  A Progress Report,"
       Lawrence Livermore Laboratory Report UCRL-75484 (1974)

14.  Volchok, H.L.,  "Resuspension of Plutonium-239 in the Vicinity of
       Rocky Flats," Proceedings of Environmental Plutonium Symposium,
       Los Alamos Scientific Lab.  Report LA-4756 (1971)

-------
 424
- 138 -
15.  Klepper, B.L., D.K.  Craig,  "Plutonium Aerosol-Foliar Interaction
       Program, Summary," Battelle Pacific Northwest Lab.,  unpublished (1974)

16.  Nevada Applied Ecology Group Progress Report,  "The Dynamics  of
       Plutonium in Desert Environments',1 USAEC  Report NVO-142  (1974)

17.  Whicker, F.W., C.A.  Little,  T.F.  Winsor,  "Plutonium Behavior in  the
       Terrestrial Environs of the Rocky Flats  Installation,"  Proceedings
       of Symposium on Environmental Surveillance Around Nuclear  Installations,
       IAEA (1974)

18.  Hakonson, T.E., L.J. Johnson, "Distribution of Environmental Plutonium
       in the Trinity Site Ecosystem After 27 Years," Los Alamos  Scientific
       Lab. Report LA-UR-73-1291  (1973)

19.  Radiological and Environmental Research Division Annual Report,  Argonne
       Nat. Lab. Report ANL-8060, Part III (1973)

20.  International Commission on  Radiological Protection, "The Metabolism
       of Compounds of Plutonium  and Other Actinides," ICRP Publication 19  (1972)

21.  Neubold, P., "Absorption of  Plutonium-239  by Plants," U.K. Agricultural
       Research Council Report ARCRL-10  (1963)

 Literature Cited - Table 1
                            239 240
22.  Bennett, B.C.,"Fallout    '    Pu in Diet," in  Fallout Program Quarterly
       Summary Report, USAEC Report HASL-286, October (1974)

23.  Buchholz, J.R., W.H. Adams,  C.W.  Christenson,  E.B.  Fowler, "Summary
       of a Study of the  Uptake of 239Pu by Alfalfa from Soils,"  Los  Alamos
       Scientific Lab. Report LADC-12897 (1971)
                             941        239
24.  Cline, J.F., "Uptake of   Am and    Pu by Plants," Battell^ Pacific
       Northwest Lab. Report BNWL-714 (1968)

25.  Cummings, S.L., L. Bankert,  "The Uptake of Cerium-144, Promethium-147,
       and Plutonium-238  by Oak Plants from Soils," Rad. Health Data  and
       Reports 12, 83 (1971)

26.  Fowler, E.B., et al., "Soils and Plants as Indicators of  the Effectiveness
       of a Gross Decontamination Procedure," Los Alamos Scientific Lab.
       Report LA-DC-9544  (1968)

27.  Hale, V.Q., A. Wallace, "Effect of  Chelates on Uptake of  Some Heavy
       Metal Radionuclides from Soil by  Bush Beans," Soil Science 109,
       262 (1970)

-------
                                     - 139 -


28.  Jacobson, L.,  Overstreet,  R.,  "The Uptake by Plants  of  Plutonium
       and Some Products of Nuclear Fission Absorbed  on Soil Colloids,"
       Soil Science 65, 129 (1948)

29.  Nishita. H.,  E.M.  Romney,  K.H. Larson, "Uptake of Radioactive  Fission
       Products by  Plants," in  Radioactive Fallout, Soils, Plants,  Food,
       Man. E.B. Fowler (ed.),  Elsevier,  New York (1965)
                             2^7    239    241        244
30.  Price, K.R.,  "Uptake of    Np,    Pu,    Am, and    Cm  from Soil by
       Tumbleweed and Cheatgrass,"  Battelle Pacific Northwest Lab.  Report
       BNWL-1688 (1972)

31.  Rediske, J.H., J.F. Cline, A.A.  Selders, "The Absorption of Fission
       Products by  Plants," Hanford Research Report HW-36734 (1955)

32.  Romney, E.M.,  Mark, H.M.,  Larson,  K.H.,  "Persistence of Plutonium
       in Soil, Plants  and Small Mammals," Health Physics, JL9, 487  (1970)

33.  Thomas, W.A.,  D.G. Jacobs, "Curium Behavior in Plants and Soil,"
       Soil Science 108. 305 (1969)
                                       241
34.  Wallace, A.,  "Increased Uptake of     Am by Plants Caused by the
       Chelating Agent  DTPA," Health Physics, 22, 559 (1972)

35.  Wilding, R.E., T.R. Garland,  "Influence of Soil  Plutonium Concentration
       on Plutonium Uptake and  Distribution in Shoots and Roots of  Barley,"
       J. Agr. Food Chem. 22,  836 (1974)

36.  Wilson, D.O.,  J.F. Cline,  "Removal of Plutonium-239, Tungsten-185 and
       Lead-210 from Soils," Nature 209.  941 (1966)
425

-------
426
                                           - 140 -
                                          Table 1

                              PLANT UPTAKE OP TRANSURANIC ELEMENTS

     Coneentrntion Factor (pCi/g frosh  weight per pCl/g dry soil) - when ncccssnry,  data
                                                                   adjusted on basis  of  ash
                                                                   wt.  17. and dry wt.  207.
                                                                   of fresh wt.
   239Pu
                 -4
Cone. Factor (xlO )     Reference	    Plant Species and Method	


     .02 - .1           Jacobson, Overstreet   barley seedlings in clay  suspension
                                                for 24 hr.

     .04 -  1           Price                  cheatgrass, tumbleweed  -  2  mo  -  rad,lo-
                                                actlve layer in soil.
    .001 - .3           Buchholz, Adams,       alfalfa, barley, beans, tomatoes,  lettuce
                        Christenson, Fowler      4 yr. - nitrate, oxide  and weapons
                                                contaminated soil







»8pu
2*lto




2*4Cn
2*2C«
!!!&
233,,



.1 - .4

.1 - 1
.04 - .3
.4 - 4
3
1-300
.02 - 2
1 - 3
3
4-6
20
300
1-4
0-4
25 - 220
.5 - .7
Summary:
239Pu 10"5 to lO*3
*aa 93Q
238Pu same as "*Pu
2A1Am 10-4 w lO"2
Cllne
Wilson, Cllne
Wildung, Garland

barley - 18d. - beans In solution
barley shoots - 30d - factor of 2 higher
in roots
Romney, Mark, Larson clover - 5 yr. - NTS soil
Nlshlta, Romney, Larson
Redlske, Cline,
Selders
Bennett
Fowler, et al.
Cummings, Banker t
Price
Buchholz, et al.
Cllne
Hale, Wallace
Wallace
Price
Thomas, Jacobs
Price
Buchholz, et al.
244CD aa»e .. 2'
beans, tomatoes, barley, thistles -
leaves - nutrient media for 20d
potatoes, peeled - fallout background soil
tomatoes, maize, beans, alfalfa -
Palomeres soil - veg. samples washed
but may still Include external con-
tamination.
oat shoots - 3 wks. In 9 soils - radio-
active layer in soil
(see 239Pu)
*!
"
bush beans - leaves
soy beans - leaves and stems - higher in
roots - chelates increase uptake
(see 239Pu)
beans - 7. uptake agrees with Price -
forage grass - no detectable uptake
(see 239Pu)
(see 239Pu)
^Am 233U 10-4
242- 244«
iH*Cm same as Cm
237Np io-2
Relative Uptake - experiments with identical plant



239Pu 233u
1 6
1
1
241Am 244Cm
30
20-30
30 40

species and soils for each Isotope
237flp Experiment
Buchholz (see 239Pu above)
Cllne
2000 Price "

-------
                                     - L41 -                                    427




                    II.  FALLOUT PLUTONIUM PATHWAYS TO JjAN




      Fallout plutonium reaches man by  the inhalation and ingestion patnways.




 Direct  inhalation of  the  initially airborne weapons-produced natet...i Las




 been  the  dominant contributor  to  the plutonium body burden.  Plutonium \n




 air is  deposited on vegetation or on soil, contaminating food by direct




 deposition  or by root uptake.  The low plutonium concentrations occurring




 in food and the very  low  transfer across the gastrointestinal tract make the




 importance  of the ingestion pathway very minimal.  Both pathways, however




 have  been considered  in detail.




 Ingestion Pathway




      A  complete diet  sampling, consisting of representative foods from 19




 separate  categories, was  conducted in  1972 in New York by the Health and




 Safety  Laboratory.     The plutonium concentrations in the various foods




 were  determined and the annual intake  estimated.




      Because of the low plutonium concentrations in the foods, relatively




 large samples were  required (100  g ash).  The total sampling comprised




 237 kg  of fresh food.  Table 1 lists the analytical results.  Tha highest




 concentration was found in shellfish,  followed by grain products and fresh




 fruits  and  vegetables.  Lower concentrations were found in meats, eggs,




 peeled  potatoes, and canned or processed foods.  No activity above the




 minimum detection level (.01 dpm/sample) was found in milk.




      The  listing indicates that external contamination is a factor in




 the occurrence of plutonium in foods.  The difference between fresh and




 canned  foods indicates that some of the activity is lost through washing




 and processing.   The plutonium concentration on potato peels exceeded the




concentration fn the peeled potatoes by a factor of 60.   The activity on

-------
  428
                                      -  142  -
the peels could be accounted for by the soil activity.



     Separate analysis of clams and shrimp, which made up the shellfish



sample, showed 8 times higher plutonium concentration in the clams.  Much



of the activity in clams, which are filter feeders, is no doubt as ;,o; later*.



with the gastrointestinal portion.  The meat portion of tha fresh fish



sample had a concentration 10 times less than the shellfish sample.



     The absence of detectable activity in milk had been observed earlier


                        (2)
for milk sample in 1965.     A tracer study has indicated very low transfer

                        _ /•                             / o \

of plutonium to milk (10   of ingested dose per liter).


                                                90
     Analysis of the identical food samples for   Sr indicated that plu-



tonium is deficient in all food items, relative to the deposition amount?;,,



No unusual concentrating processes have been observed.  The few plutonium



analyses of food sampled some years earlier indicate that the concentrations



are decreasing as the deposition rate decreases.


                                  239 240
     The concentration factor for    '   Pu in potatoes was determined from



analysis of Long Island (New York) potatoes and representative Long Island


     (1)                        -4
soil.     The result  was 3 x 10   (ratio of concentration in fresh peeled



potatoes to that in dry soil).  Tracer studies have indicated similar results



for other plant species.  This determination indicates that there should be



no unexpected behavior for the uptake to the edible portion of plants at



low environmental levels of plutonium.



     Analysis of plutonium in New York tap water (.3 fCi/J. in 1973) indicates



that plutonium, as does cesium, becomes largely removed to sediments.



     Ingestion intake of fallout plutonium has been determined from the



concentration results and food consumption estimates.  These results are



listed in Table 2.  The annual intake during 1972 was 1.6 pCi, due 35% to

-------
                                                                                429



grain products, 20% each to vegetables, fruits, and meats, and less than



4%  to dairy products.  The annual intake  in 1965 was estimated to be



2.6PCi.(2>



     Uptake of plutonium from the gastrointestinal tract is estimated to



range from 3 x 10   to 10       On this basis, the 1.6 pCi ingestion intake



during  1972 would have contributed, at most, 5 x 10   pCi to the body burden.



While inhalation intake during  1972 (.2 pCi) was less than the ingestion



intake,  the contribution to body burden was greater than the ingestion



contribution by a factor of 1000.



Inhalation Pathway



     Inhalation intake of fallout plutonium can be determined directly from



the measured air concentrations.  Estimates of retention in lung, transfer



to  blood, and organ distributions are obtained using the ICRP Task Group



Lung Model.  Details of the model and results of the computations for fallout



plutonium were reported recently.



     Based on the measured and  inferred plutonium concentrations in air in

                                             3

New York and a constant inhalation rate (20 m /d), the inhalation intake is



determined.  The intake, listed in Table  3, reflects weapons testing



activity - a decrease in 1960 during the  test moratorium, a maximum in 1963



(12.2 pCi) following the 1961-62 tests, and declining intake after the 1963



Test Ban Treaty.  The cumulative inhalation intake through 1973 has been



42.2 pCi.



     The lung model is shown in Figure 1.  The transfer rates and fractions


                                                            (4)
are the  amended values accepted by ICRP Committee 2 in 1971.     The Class



Y parameters have been assumed, the form  of the fallout plutonium being




most likely Pu02.   Deposition in the nasopharynx (N-P) and tracheo-bronchial (T-B)

-------
   430                             -



regions is cleared rapidly and almost entirely to the G.I. tract.


Elimination from  the pulmonary (P) region is primarily with a 500 day


half-time with 807. going to the G.I. tract  (40% with a 1 day half-tiro   ,


57o to blood, and  157« to the lymph system.   Some permanent retention in  the


lymph nodes is assumed -* 107o of the amount  passing through the lymph system.


Equal partition (457» each) of the amount transferred from blood to bone and


liver is assumed.  An additional 17» transfer from blood to kidney can be


assumed, the remainder going to other soft  tissue and excretion.  The removal


half-time from bone is taken to be 100 years and from liver and kidney 40


years.  Transfer  of plutonium from the gastrointestinal tract to blood is


quite low (10  )» making negligible contribution to organ burdens from



activity passing  from lung to the G.I. tract.


     Regional deposition in the lung depends on the particle size.  From


measurements of size characteristics of airborne fallout,  '   it has been


assumed that fallout plutonium radioactivity is attached to representative


0.4 urn aerosol particles.  This size results in 327. deposition in the pulmonary


region.  Since 607o of the deposition receives longer term retention, about


207» of the inhalation intake contributes to the initial lung burden.  The


lung model transfer parameters indicate that about 67» of the intake reaches


blood, and with the 45-45-1 subsequent distribution to bone, liver and


kidney, 2.757» of  the inhalation intake can be expected to be found in bone


and liver and 0.06% in kidney.

                                                   239 240
     The cumulative inhalation intake of 42 pCi of    '   Pu could thus


have resulted in about an 8 pCi body burden (42 pCi x 2070), but since the


intake occurred over several years, a maximum body burden of 4 pCi was



reached in 1964 (Table 3).  Little activity having been removed from bone

-------
                                     -  145  -


and liver, the burdens estimated from cumulative intake (42 pCi x 2.75%"^

1 pCi) agree closely with the more detailed computations    of the current

burdens.  Table 4 lists the computed organ amounts for 1973.  The total

body burden is 2.5 pCi.

     Comparison of the results of the lung model calculations of organ

burdens of fallout plutonium are available with the human tissue autopsy

analysis results of the Los Alamos Scientific Lab.  The comparisons have

shown good general agreement.  The averages observed for 50 to 75 samples
                                               /o\
obtained during 1972-73 were recently reported.     The observed-computed

comparisons are .3 - .2 pCi in lung, .2 - .5 pCi in lymph nodes, 1.6 - 1.0

pCi in bone, 1.1 - .9 pCi in liver, and .2 - .02 pCi in kidney.

     Figure 2 shows the measured inhalation intake of fallout plutonium and

the computed organ burdens, including extrapolated values which assume no

further intake beyond 1974.  The continuing air concentration and tissue

sampling programs will provide further checks of our prediction capability

following inhalation intake.

     The doses due to the computed burdens have been determined, based on

uniform distributions within the organs.     The cumulative doses through

1973 to an individual exposed throughout the entire fallout period since 1954

have been 15 mrem to lung, 8 mrem to bone and 4 mrem to liver.  Longer term

retention in liver and bone eventually causes the doses to these organs to

exceed the dose to lung.  The cumulative doses through the year 2000 to

the same exposed individual are estimated to be 34 mrem to bone, 17 mrem to

liver,  and 16 mrem to lung.   These dose commitments are less than 10% of the

total dose commitments due to all other fallout radionuclides.
431

-------
432
                                - 146  -
 References

 1.   Bennett,  B.G.
     Fallout  239,240Pu  in  Diet
     USAEC Report HASL-286, October  (1974)

 2.   Magno, P.J., P.E.  Kauffman,  B.  Shleien
     Plutonium in Environmental and  Biological Media
     Health Physics  13,  1325'(1967)
 3.   Sansom,  B.F.
     The Transfer
     British  Veterinary  Journal  120.  158  (1964)
The Transfer of 239Pu from the Diet of a Cow to its  Milk
 4.   International  Commission  on  Radiological Protection
     The Metabolism of Compounds  of Plutonium and other Actinides
     ICRP Publication 19  (1972)

 5.   Bennett,  B.  G.
     Fallout  239pu  Dose to Man
     USAEC Report HASL-278,  January (1974)

 6.   Schleien,  B.,  N.A. Gaeta, A.G. Friend
     Determination  of Particle Size Characteristics of old and Fresh
       Airborne Fallout by Graded Filtration
     Health Physics 12, 633  (1966)

 7.   Lockhart,  L.B., R.L. Patterson, A.W. Saunders
     The Size  Distribution of  Radioactive Atmospheric Aerosols
     Journal  of Geophysical  Research,  70, 6033  (1965)

 8.   Annual Report  of the Biomedical and Environmental Research Program
       of the  LASL  Health Division, January - December 1973
     Los Alamos Scientific Lab Report  LA-5633-PR, May (1974)

-------
- 147  -
                                        433
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-------
434
- 148 -
                                         Computed Burdens
                                    i   i  i    I  /  \i  i  I  I   i  I  i  I
     Inhalation Intake and Burden in Man of Fallout 239/240Pu
                          Figure 2

-------
                                         -  149  -
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                                   -155-


               TRANSURANIC ELEMENTS IN THE MARINE ENVIRONMENT


                             Herbert L. Volchok


                        Health and Safety Laboratory
                       U. S. Atomic Energy Commission
                           New York, N. Y.  10014


     Following is a brief summary of current information concerning trans-

uranics in the marine environment.  Most of this material was developed

during a workshop convened by the Ocean Affairs Board of the National

Research Council in late 1973.  The workshop subject was "Assessing Potential

Ocean Pollutants"; one chapter (Volchok et al., 1974) is devoted specifi-

cally to transuranics.  The report of this workshop will be published in

the very near future.  The entire bibliography of the workshop chapter has

been included here, along with the actual references cited.

     In marine environments, transuranic elements have been introduced, in

dispersed form, in four ways:

1.  Close-in fallout from nuclear explosives testing.

2.  World-wide fallout from nuclear explosives testing.

3.  Atmospheric burn-up of plutonium power supplies.

4.  Fluid wastes from chemical reprocessing and reactor operations.

     The environmental redistributions of plutonium have been followed,

to some extent, after its introduction by each of these avenues, and a

small amount of information exists about americium.  Unfortunately the data

now at hand do not permit us to distinguish among the distributions of

plutonium following its introduction in different ways.  It has been assumed

by Bowen and his co-workers (Wong e_t al.. 1970a, 1970b; Bowen e£ al., 1971;

-------
 440
                                    - 156 -
Noshkin and Bowen, 1973) that both plutonium and americium from world-


wide fallout do pass through soluble phases in the oceans, but this has


not yet been confirmed.


     Pillai at al. (1964) found that plutonium concentrations in surface


water, collected while fallout rates were high, were explainable by con-


sidering the precipitation exposure of the water masses sampled.  More


recently, samples collected while fallout rates were low showed concentrations


that were explained by sedimentation of plutonium, in contrast to the con-

                        90       137
servative behavior of Sr   and Cs    in the same samples (Miyake and


Sugimura, 1968; Miyake et al., 1970; Bowen e£ al., 1971; Noshkin, 1972;


Noshkin and Bowen, 1973).


     Profiles of Pu concentration as a function of depth in ocean water


columns have been measured, primarily by Bowen and his co-workers at Woods


Hole Oceanographic Institution (WHOI) in AEC-DBER and GEOSECS programs.

                                                                     239
     Noshkin and Bowen (1973) studied the relationship between the Pu    in


the sediment (expressed as a fraction of the estimated delivery to the


latitude sampled) and the depth of the overlying water; several shallow


water cores contained 100 percent of the predicted delivery, whereas their

                                                               239
deepest core (over 5300 m) contained, in 1971, no measurable Pu   .  The


major marine removal pathway for this transuranic is apparently biogenous


sedimenting particles.


     Data are insufficient to show that this behavior can be generalized

                                              OO Q
for other transuranic elements, or even for Pu    that was introduced by

                                                 241
SNAP-9A.  Schell and Young (1973) suggest that Am    is being removed from


the water column in Bikini atoll; Sugihara and Bowen (1962) and Bowen and



Sugihara (1965) argued that lanthanide sedimentation was usually on inorganic

-------
                                     - 157 -

particulates, and americium is predicted to be much more Ianthanide-like
than is plutonium.  Unpublished data (Bowen et al., unpublished manuscript)
show, in one N. Atlantic water column, a steady increase with depth,  of
      O/ 1   O *^ Q
the Am   /Pu    ratio, from 0.16 at 200 m, to 0.38  at 3200 m; this appears
                                                               241
to be too great an increase to be explained by generation of Am    by
           241
decay of Pu   , and in that case, would argue strongly for control of plu-
tonium and americium distributions by their solution chemistry in sea water.
                                                           239       241
     Aarkrog's (1971) study of the accidental release of Pu    and Am
near Thule, Greenland, showed that of the Pu measured, upwards of 95  percent
went to the sediments; 1 percent found in the water column was fine particles
(as was expected of recently formed PuO« particles).  The biological  data
                                                                     239
are not yet sufficient to show the extent of remobilization of the Pu   ,
                                              241
and no examination has yet been made of the Am   .   The reprocessing  waste
discharge into the Irish Sea from Windscale also results (Preston and Mitchell,
                                                              239       241
1973; Mitchell, 1971a, 1971b) in association of most of the Pu    and Am
with the sediments close to the discharge area.
       239       241
     Pu    and Am    from fallout have been found in marine organisms from
a variety of places in both hemispheres (Noshkin, 1973; Cherry and Shannon,
          242
1974).  Cm    has been found (Livingston, personal  communication, 1973) in
                                237
Fucus from the Irish Sea, and Np    (at very low levels) in a variety of
samples from Eniwetok (Noshkin, personal communication, 1973).
     Sources in Polykarpov (1966) indicate concentration factors of about
           239
1000 for Pu    in marine plants; Noshkin (1973) has tabulated much recent
data shown in Table 1, indicating that this level is often exceeded by
marine benthos and zooplankton, and usually very greatly exceeded by  the
Atlantic Ocean species of pelagic Sargassum.
                                                                                 441

-------
  442

     Data reported by Bojanowski et al. (1974), and by Mitchell (1971a,
                   241
1971b) show that Am   ,  from fallout or from waste, is strongly concentrated
                                                             241   239
by Sargassum or rooted algae leading to in-plant ratios of Am   /Pu
several times higher than those in the medium.   Their data indicate that
  241
Am    is more concentrated in Porphyra from the Irish Sea than Fucus
   241   239
(Am   /Pu    as high as 1*4 in Porphyra, versus 0.18 in Fucus).
     Study by Wong e_t al. (1972) showed that in the great Pacific kelp
              239
the maximum Pu    concentrations (about 2 pCi/kg) were confined to the
thin outer layers of the plant, the inner parts showing concentrations only
1/200 of that near the outside surface.
     In general it appears (Noshkin, 1972) that marine invertebrates exhibit
                                   239
higher concentrations of fallout Pu    than do  fish, this is also the trend
                                  939
of the data on close-in fallout Pu    about the Pacific test sites.  The
       239
fish Pu    shows bone or liver-seeking behavior, as it does in mammals;
                                              239
liver-seeking may also be characteristic of Pu     in molluscs and Crustacea,
but there are few data.   The tendency shown by  molluscs and lobster, for
                         239
high concentrations of Pu    associated with shells, can be explained by
the well-known tendency for shell-periphyton to accumulate trace constituents
from the medium, rather than by the invertebrate equivalent of bone-
seeking.
     The data show little evidence for any trophic level enhancement of
  239
Pu    accumulation, although in the one case specifically studied (Wong
                                                    239
e_t al., 1970) starfish showed consistently higher Pu    (fallout) than did
the mussels on which they were feeding.

-------
                                     - 159 -



                                   239      241
     By analogy one would expect Pu    or Am   ,  once incorporated in


tissues of marine organisms, to show long residence half-times;  in the


one case studied, Hodge e_t a^L. (1973) suggested a half-time of 3.5 years

      239
for Pu    in albacore liver.

                                                     239
     It has been noted a number of times that even Pu    accumulations  from


fallout represent higher radiobiological doses (in rems)  to some marine


organisms analyzed than do either their Sr   or Cs    contents.   This is


because of the relatively greater biological effectiveness  of alpha particles


versus the beta or gamma radiation of Sr   or Cs
443

-------
 444
 ***                             - 160  -
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                                                                              451
     and PoO by the brown algae Ascophyllum nodosum and  marine phytoplankton.
     Radiobiologya 10:584-89.   Translated in AEC-Tr-7205:160-69.

Zlobin, V.S.  and M.F. Perlyuk.   1971.   Photosynthesis and  the mechanism of
     the actio.n of cyanide on  cell respiration and  Pu-239  accumulation  by
     marine algae.  Proc.  Sci.  Res.  Planning Inst.  Sea Fisheries and
     Oceanog. 29:159-68.   Translated in AEC-Tr-7418:195-206.

-------
452
                                              - 168 -
                  TABLE 1.
                                PLUTONIUM IN MARINE ORGANISMS
  Organism^
  Plants
  Algae (attached)
  Sargassum(attached)
  Sargassum(pelagic)
   Animals
  Plankton(mixed)
  Sponge
  Annelid Worm
  Starfish
  Gastropods
    n
  Bivalves
  Sal pa
  Crustacea
  F1sh
Collection
Date
1964
1970-71
1971
1971
1965-70
1950
1961
1964
1970
1970
1970
1970
1970
1964
1968
1970
II
1958
1968
1964
1969
II
II
1970
II
M
II
1970
II
II
1971

Location
California Coast
Cape Cod, Mass.
California Coast
California Coast
Atlantic Ocean
California Coast
Atlantic Ocean
California Coast
Cape Cod
n n
n ji
M II
II II
California Coast
Danish Coast
Cape Cod
n
Atlantic Ocean
. Janish Coast
California r-oast
Cape Cod
n
n
Cape Cod
n
n
M
Cape Hatteras
n
ii
Cape .Hatter,as

Tissue and
lumber Samples
Whole (4)
11 (6)
" (19)
" (2)
11 (6)
" (1)
" (1)
" (1)
" (1)
" (1)
" (1)
Body (2)
Shell (2)
Body (2)
? (1)
Body (5)
Shell (2)
Whole (3)
" (5)
" (1)
Muscle(l)
Liver (1)
Bone (1)
Muscle (3)
Liver (3)
Gut (3)
Bone (3)
Muscle (3)
Liver (3)
Bone (3)
Muscle(2)
Bone (2)
Mean
Pu 239
pCi/kq v/et
0.47
0.53
0.64
0.28
20.7
0.023
2.03
1.08
1.80
3.50
0.87
0.35
0.42
0.22
7
0.31
0.47
1.40
1.5
0.001
0.005
0.03
0.6
0.003
0.05
0.68
0.11
0.003
0.15
0.02
0.006
0.03
Pu238
Pu239
^_
—
—
~
—
—
—
—
0.07
0.06
0.09
0.05
0.09
—
—
0.07
0.08
—
—
—
—
~
~
—
~
—
—
~
--
~
—

Range of
Cone.
Factors
660-1570
100-1600
260-3500
325-450
3000-100, OC
—
2300
2600
2100
4100
1020
140-660
300-690
230-290
8200
300-520
490-600
900-2400
1060-4500
3
1-5
—
—
1-2
14-60
40-1100
50-600
4
175
21
10-15
30-50

-------
                                                                          453
     Dr. Mills:  Thank you, Doctor.  You and Dr. Wrenn have given us a




great deal of technical information which will take quite a lot of time




to digest.




     I have two quick questions, one to you and one to Dr. Wrenn.




     In regard to the question of plutonium uptake to include the food




chain for humans, has there been any information that came from the




Palomares episode which would lead us in a determination of what plu-




tonium might do by way of transport to humans?




     Dr. Bennett:  Yes.  There have been some studies of plant uptake




for edible foods at Palomares, and also laboratory tests and experiments




using Palomares soil.  Some of these data, reported by the Los Alamos




Scientific Laboratory, are included in the comprehensive summary table




of plant uptake included in my written testimony.




     Dr. Mills:  Other than the inhalation problem, does the depth of




the soil — did there seem to be a critical depth of plutonium in the




soil uptake, or the food chain?  That is, the growth and transport of




materials, is it all within the first centimeter?




     Dr. Bennett:  For cultivated fields, that of course would not be




the case.  It would be more uniformly distributed.  That should be




considered.




     Even for uncultivated areas, there is some downward mobility, as




Dr. Wrenn pointed out.  It does not remain on the surface forever.




     Dr. Mills:  I have one question for Dr. Wrenn.




     In your Table 3, where you show representative concentrations of




plutonium 239 in various means, you have 4xlO~8 picocuries per gram, I




recognize the sample size is an important consideration but would you

-------
454
  comment  on the  ability  to make measurements at  these levels?




       That  is, keeping in mind that  one  can only work with a reasonable




  size  sample.  Are  these pretty close  to the detectability, do you  feel?




       Just  a comment  is  all  that  I am  looking  for.




       Dr. Wrenn:  Yes.I would say they are.  They represent generally




  research type measurements  in which one takes a great deal of trouble




  to  collect a very  large sample and  to process that  sample and analyze




  it.




       For example,  in seawater samples,  there was .1 picocuries per 100




  liters,  so you  have  to  collect 100  liters to  get a  tenth of a piocurie




  of  plutonium.




       To  answer  your  question, yes.  You have  to stretch to do that.  On




  a research basis,  you can.




       Dr. Mills:  Do  you have any questions, Dr. Taylor?




       Dr. Taylor:   I  want to ask  one question  of Dr. Bennett, if  I  may.




       You pointed out that the uptake  of plutonium in foodstuffs  seems




  to  be very low  relative to  the amounts  deposited in comparison with




  other radio elements.




       What  is the explanation for that?




       Dr. Bennett:  I notice that in wheat, very little translocating




  to  the inner part  of the kernal  takes place.  That  might be one  explana-




  tion, since there  is little translocation, there is more opportunity for




  washoff.




       The explanation for low levels in  other  foods  in terms of plant




  uptake is  explained  by  the  chemistry.

-------
                                                                           455
     Dr. Mills:  Dr. First?




     Dr. First:  You have gone through a great deal of data in your two




presentations in a short time.  It is obvious you have concentrated them




quite a bit.




     I am going to ask you to concentrate still more, if you can.  Could




you tell us, either/or both of you, what is the significance of the data




which you have presented to us this afternoon in terms of the objective




of this conference?




     What should they mean to us?




     Dr. Bennett:  The fallout measurements, I think, are directly




appropriate to your consideration in that they are actual measurements




of plutonium in the environment.




     To that extent, it is not speculation; and to that extent, I think




it will be important in your consideration of standards.




     Dr. First:  I do not think I have made my question clear.  What




should I think about it now that you have presented it?  What am I




supposed to deduce from this information?




     Dr. Bennett:  Whatever a scientist would care to deduce from it.




It is your prerogative.




     Dr. First:  I realize this, but I would like to know what the




significance is in your mind.  Why did you present the particular things




you did?  Why did you highlight the particular items?  They must have




had some significance in the context of this particular meeting.




     What I am asking you for, really, -is to help me decide what this




all means by not having to go through all the references.

-------
456
      Dr. Bennett:  I am not sure I understand you.




      I presented what I believe is objective scientific data.  I think




 it does give you some indication of the behavior of plutonium in the




 environment.




      I cannot really say anything further.




      Dr. Mills:  Perhaps I can read one of the specific items in the




 Federal Register.  Information was asked for on the environmental




 levels.  It was to include consideration of available data of the pro-




 cedure, and accurateness and completeness of available data, a theoreti-




 cal model developed on transport through the ecosystem, and experi-




 mental verification of such a model.




      I would assume that some of this information some where down the




 road could be interpreted in this context.




      Dr. Bennett:  Yes.  I would certainly hope so.




      Dr. Mills:  That was a very big job.




      Dr. Wrenn:  I guess I can have a crack at it quickly.  It seems




 to me that one needs to discuss the existing amounts of given types of




 material in the environment when considering environmental type




 standards.




      Secondly, they teach us an awful lot about the way the material




 will behave in the future.




      One of my reasons for pointing out the americium 241 amounts is




 that we are going to learn from environmental studies in the next few




 years a lot of things about the translocation of this particular element




 that we do not know yet.

-------
                                                                           457
     Dr. First:  I hope nobody is interpreting this as being critical




of the papers or of the information presented.




     I am very much interested in it.  I think it is a very fine job.




I would like to know what it means.




     Dr. Liverman:  It seems to me that with the information on hand




you can conclude the following sorts of things.




     Here is fallout.  You can measure what is on the top of the soil




and at different levels.  You can grow plants on it and find out how




much they take up, how much is in the food chain, how much gets to




bones, lungs.




     It begins to tell you, then, something about what should be




permissible to be allowed on the surface or at different levels in the




soil in different regions of the country, so that you have a better




feeling for saying OK, you cannot get that dirty there; you are in




real trouble.  It then begins to tell you something about the levels




at which one should set permissible standards in different environmental




conditions.




     At least to me, that is what this would say.




     Dr. First:  Yes.  I agree.




     What are the levels?




     Dr. Liverman:  What should the levels be?




     I thought that was the purpose of all of these explorations,  to




help us try to arrive at what these should be.




     Dr. First:  Yes.  I agree.   I thought each one might have some




estimate.

-------
  458
     Dr. Liverman:  I have not.  Perhaps others do.




     Dr. Taylor:  This will help us set flexible standards,  will it?




     Dr. Liverman:  It should tell you how much flexibility  is needed.




     Dr. First:  This is a do it yourself project,  I take it.




     Dr. Radford:  I have a few questions for both the speakers.




     You heard, first, about the AEC facilities and  Dr. Yoder  indicated




those are not necessarily typical of distribution of radionuclides that




occur from civilian power development.




     Now we have heard about weapons testing fallout which also probably




is not typical.  I guess you can say flatly it is not typical.




     In particular, for example, would either of the speakers  comment on




the importance of curium versus americium or plutonium in waste now




rather than just total?  I realize plutonium is the  big item,  but when




we get into the waste system, we are dealing with curium, too.  Right?




     Dr. Wrenn:  I pointed out in my slide number three that curium is a




trivial input in weapons testing.




     Dr. Radford:  It may not be trivial when we get into wastes for




nuclear power plants?




     Dr. Wrenn:  It may not be.  The relative abundance will be quite




different.




     Dr. Radford:  So the contribution that curium isotopes  might have




to this problem are not inferrable from this information.  I would like




just to ask Dr. Bennett first with regard specifically to this lung




model, I take it that as far as the fallout material is concerned the




principal conclusion that I would draw from your data is that  inha-

-------
                                                                           459
lation exposure to lung tissues is essentially the principal problem.




     There may be some uptake into other tissues, but it is predomi-




nantly in the lung tissues.  Is that right?




     Dr. Bennett:  Yes. Initially it is, and subsequently some transport




to G.I. tract and to blood; subsequently, to other organs.  Yes.




     Dr. Radford:  But the dose calculated in the method you used came




out pretty small for those other organs.  Is that right?




     Dr. Bennett:  Yes, initially.




     Dr. Radford:  Initially, and integrated over the whole?




     Dr. Bennett:  Long term retention is assumed for bone and liver,




so those doses do exceed the lung dose eventually.




     Dr. Radford:  Now, the principal concern as I understand it of the




panel and this discussion is the possibility of cancer production in




man.  Is that your understanding, too?  Or genetic effects?




     Dr. Bennett:  Health effects, yes.




     Dr. Radford:  Health effects.  And those are predominantly cancer




effects by alpha emitters.  Is that what we are talking about predomi-




nantly?




     Dr. Bennett:  I am not talking about it.  My studies end with the




estimated burdens in man.  I have not directed any of my comments on




health effects-




     Dr. Liverman:  I think we will go into that area in great depth




in the morning, Dr. Radford.




     Dr. Radford:  All right.  I just wanted to make a point pertient




to Dr. Bennett's presentation, since you did present the lung model and

-------
   460
the derivations therefrom.




     The radiogenic cancers that occur in man occur in what tissues




specifically within the lung?  Are you familiar with that?




     Dr. Liverman:  I do not think he can be expected to answer that.




     Dr. Bennett:  I am an environmental scientist.  I am not a




biologist.




     Dr. Radford:  Oh, I see.  Well,  never mind, then.  For the sake of




an interest in time, I will take that it is predominantly in the bron-




chial epithelium or the substructures to that, and the ICRP lung model




does not include this as a compartment,  nor are there very good data on




the transfer rates in and out of that compartment.




     So that the application of modelling by the ICRP model is not




particularly germane to this issue today.




     Dr. Wrenn, would you care to speculate on the lung concentrations




that have been observed, that you reported in your Table 3, and which I




guess were similar to those Dr. Bennett  presented in relation to the air




concentrations?




     Dr. Wrenn:  Dr. Bennett went over this in detail for New York.  I




just took essentially the highest concentration and — it will be talked




about later in Dr. Richmond's paper — I stuck that in as a representa-




tive example.




     The function of this Table is merely to allow you to rank the amount




of activity.




     Dr. Radford:  What is the form of the alpha emitting elements in




fallout?  Are they in submicron particles, dust particles, or how?  Is




this known?

-------
                                                                          461
     Dr. Bennett:  Yes.  They are submicron particles attached to the




aerosol particles.  Yes.  You can understand that from the production




method in the weapons test, dispersion in the stratosphere.




     Dr. Radford:  Would expect a particle size distribution to be the




same in a weapons test fallout as it would be, say, in material coming




out of a fuel reprocessing plant?




     Dr. Bennett:  It could well be different, but it could also be quite




similar.




     Dr. Mills:  Dr. Garner?




     Dr. Garner:  Dr. Bennett, we have in our written testimony a state-




ment from William B. Lipton, who describes himself as a doctoral candi-




date who has been working on uptake of plutonium by plants.




     He states, "If you use plutonium chelating agents...the uptake




factor is -increased by about 50."




     Also, recently, there was a paper in the Journal of Agricultural and




Food Chemistry, Pacific Northwest Lab, describing an increase in uptake




of plutonium from soil.




     Do you think this will modify the conclusions you will have to make




when we start talking about plutonium with other things coming out of it,




from nuclear plants as opposed to fallout?




     Dr. Bennett:  Yes, I am aware of these studies.  I mentioned some of




the effects in that table of chelation treatment.  It will increase plant




uptake; it is not often sustained, however.  It is possible to increase




plant uptake using certain chelating agents.




     I am aware of that.  Whether these will be of widespread use in

-------
 462
agriculture would be hard to say.




     Dr. Garner:  What about the Pacific Northwest results that showed a




gradual increase in uptake by kilogram?




     Perhaps someone will comment on that tomorrow?




     Dr. Bennett:  I think it was a gradually increasing uptake by plants




with decreasing concentration in soil.   However,  there was only a factor




of about two difference, really not significant;  if you extrapolate to




background levels to fallout levels, you do not find a corresponding




extrapolated increase in uptake at these levels.




     Uptake is not radically different  from the levels that Wildung




obtained.




     Dr. Garner:  So you think there is no reason to suspect in the




future that major exposure of man will  change from inhalation to




ingestion?




     Dr. Bennett:  Yes.  1 have stated  that there should be no surprising




plant uptake at the low levels such as  we have experienced with fallout




plutonium.




     Dr. Garner:  Thank you.




     Dr. Mills:  Are there any more questions or  comments?




     Thank you, gentlemen.




     I would suggest we adjourn until the morning.




     We will reconvene at nine o'clock  tomorrow morning.




     (Whereupon, the hearing in the above entitled matter recessed at




5:30 p.m., to reconvene the following day, on Wednesday, December 11,




1974, at 9:00 a.m. o'clock.)

-------
                                                                         463
     Dr.  Mills:   We will  start off this morning with the area of




Biomedical Effects, testimony given by the Atomic Energy Commission.




     The  first  speaker  this morning is Dr. Bill Bair.

-------
                               - 171  -
464
                 The Biological Effects  of Transuranium
                    Elements  in Experimental  Animals
                          by W.  J.  Bair,  Ph.D.
                     Director, Life Sciences  Program
                Battelle - Pacific  Northwest  Laboratories
                       Richland, Washington 99352
                   part of the AEG  presentation  at  the
                    EPA Plutonium Standards  Hearings
                 Washington,  D. C., December 10-11, 1974
                              INTRODUCTION

     The toxicity of plutonium has been of concern  since milligram

quantities were first produced in the Oak Ridge reactor starting  in late

1943.  In 1944 milligram quantities were allocated  for biomedical studies.

In 1947 and 1948 the first biological experiments were completed  with

americium and curium.  Since then, biological research has  been in

progress at several laboratories in the United States and abroad.  Most

of the research effort has been directed towards the compounds of the
                                  239
most common isotope of plutonium,    Pu.  Within the past 10  years  as

the concept of plutonium recycle and the fast breeder program developed,

recognition of the potentially increasing abundance of the  transplutonium

elements has led to expanded biomedical research on neptunium, plutonium,

americium, curium, californium, berkelium, and einstinium.

     The purpose of these animal experiments is to  enable us  to predict

the health consequences of transuranium elements in man.  These studies

have considered two different kinds of contamination events.  One of

-------
                                                                          465





these, occupational exposures to transuranics released into the work




environment, involves relatively small numbers of people.   Such exposures




can be simulated reasonably well in the laboratory with the expectation




of observing unmistakable effects in statistically significant numbers




of animals.  The second kind of contaminating event of concern is the




exposure of large populations to very low levels of the transuranium




elements.  Such low level exposures cannot be directly simulated in the




laboratory because exceedingly large numbers of experimental animals are




required to yield meaningful results.  Therefore, an understanding of




the mechanisms of the biological action of low levels of transuranics is




required to predict what cannot be measured in the laboratory.




     An overriding concern of all the animal experimentation is the




confidence with which the results can be extrapolated to man.  While




sophisticated experiments can be performed with rodents, dogs, cats,




swine, and primates, questions regarding the applicability of the




results to man will be settled only as data from human exposure cases




become available.




     The major health effects of the transuranic elements  are due to




their emission of alpha radiation and the nature of the effects depends




upon which tissues are irradiated.  This is determined by  the disposition




of these radioactive elements in the body which in turn is determined by




their chemical and physical properties and their route of  entry into the




body.  Thus, in this presentation, I will review in a general way the

-------
      466                         - 173 -






absorption of the transuranic elements into, and the distribution within




the body following ingestion, deposition on skin,  and inhalation.  Then




I will summarize the biological effects which have been observed in




experimental animals, in particular the late effects resulting from




relatively low level radiation exposures.  The emphasis will be on




plutonium because it is the transuranic element we know most about.




     Much of the information included in this presentation has appeared




in several recent reviews (Hodge, Stannard, Hursh, 1973; Bair and Thompson,




1974; Bair, 1974; Thompson, 1974; Bair, Richmond,  and Wachholz, 1974;




Dolphin et al., 1974; Buldakov et al., 1969; Sanders et al., 1970;




Healy, 1974; Thompson, 1974; Park, 1974; Stover, 1974).






                 DISPOSITION OF TRANSURANICS IN THE BODY




     Transuranium elements released to the environment may reach man




through three pathways.  Transuranics which become incorporated into




foodstuffs may be ingested and absorbed from the gastrointestinal




tract, while those dispersed in air may be either  deposited on the




skin and absorbed, or inhaled and deposited in the respiratory tract.




Occupational exposures may include entry through a wound.




ABSORPTION FROM THE GASTROINTESTINAL TRACT




     Experiments confirm that most transuranic element compounds are not




readily absorbed from the gastrointestinal tract.   Table 1 gives values




for the gastrointestinal tract absorption of uranium and several transuranic




elements in newborn rats and adults.  In rats, neptunium nitrate was most




readily absorbed, nearly 1 percent.  The least absorbed was Pitf^, 0.0001

-------
                                    - 174 -







percent.  Gastrointestinal tract absorption was one or two orders of




magnitude greater in the newborn rat than in the adult.  Americium,




curium, berkelium, and einstinium show at least a 10-fold greater




absorption than plutonium.




ABSORPTION THROUGH INTACT SKIN




     Although percutaneous absorption of all available transuranic




elements has not been thoroughly studied, results from experiments with




plutonium indicate that absorption through intact skin is a relatively




minor route of entry into the body, Table 2.  The highest value, 2 percent,




was obtained in rat skin exposed to Pu(NO~)/ in 10 N HNO^ for 5 days.




All other experiments gave values of less than 1 percent.  About 0.05




percent of einstinium, the only other transuranium for which data are




available, was absorbed over a period of 7 days through rat skin.




Results from animal experiments and human contamination incidents indicate




the intact skin to be an effective barrier to the entry of plutonium and




einstinium, and probably the other transuranium elements.




RETENTION AND TRANSLOCATION FROM LUNG




     Airborne transuranic particles are similar to most other particles




when they are inhaled in that deposition in the respiratory tract is




primarily dependent upon the physical properties of the particles and




the respiratory characteristics of the individual inhaling the particles.




Clearance From Lung




     Animal experiments and limited human data provide a range of values




for the retention half-times of several plutonium compounds.  These are
467

-------
   468
                           o QQ       239

summarized in Figure 1 for    Pu and    Pu.   The retention half-times




for organic complexes of plutonium,  plutonium nitrate and fluoride range




from less than 100 days to about 300 days in rats and dogs.  The retention




half-times for PuOo are substantially longer, ranging from 200 to 500




days in rats, 300 to 1000 days in dogs,  and  250 to 300 days in human




beings.  The wide range of values for dogs is largely due to extensive




experimentation with a variety of plutonium  oxides with different particle




size characteristics.  The relatively low retention values for human




beings, compared with dogs, suggests either  that man clears plutonium




particles from his lungs more rapidly than do dogs or that the materials




inhaled in the human accident cases  were more soluble than plutonium


                       TOO

dioxide.  Studies with    PuO^ in dogs indicate a much shorter lung



                                    239
retention time than is observed for     PuC^-  This appears to be due to



               238
instability of    PuC>2 particles, possibly caused by radiolysis in




tissue fluids.




     Figure 2 illustrates the effect of the  physical properties of the




inhaled particles on retention of plutonium in lung.  Retention half-




times are given in days for several  plutonium oxides.  Each bar represents




data from one dog.  Plutonium oxide  prepared by calcining the oxalate at




1000°C was retained with a half-time of 650 to 950 days compared with




300 to 400 days for an oxalate calcined at 350°.  Oxides prepared from




metal powder at temperatures of 123   to 450  were retained in lung




longer than the low fired oxalate.  Particle size is also important.

-------
                                                                            469




The small particle size high-fired oxide was retained with a half-time




of 400-500 days, compared with half-times up to 900 days for the larger



particle size high-fired oxide.  Retention of the small particle size


238                                      239
   PuOo was less than for the comparable    PuC^.



     Pulmonary retentions of inhaled transuranic compounds have been



compared in rats and dogs.  In rats, both    Am and    Cm nitrates were


                               238       239
cleared much more rapidly than    Pu and    Pu nitrates, Figure 3.


                                         241       242
Autoradiograms from this study indicated    Am and    Cm to be dispersed


                                   238       239
much more throughout the lung than    Pu and    Pu.  In another experiment



the rate of clearance of intratracheally instilled einstinium chloride


                                            o / o
was found to be much like that reported for    Cm nitrate.



     The retention rates of several inhaled transuranics in beagle dogs,



Figure 4, compare favorably with the results from rat experiments.



Plutonium oxide, nitrate and fluoride were retained in the lung much



longer than curium and americium oxides.



Spatial Distribution of Transuranics Within Lung



     From the moment transuranic elements are deposited in the respiratory



tract, biological and physical forces are at work to cause their removal.



Thus,  it is difficult to visualize plutonium and the other transuranics



remaining static throughout their residence time in lung.   It is not



possible to document the course of individual particles and aggregates



of particles in lung.  However, the temporal and spatial characteristics



of radioactive particles within tissues can be inferred from autoradiographs



of tissue sections prepared from animals exposed to radioactive aerosols.

-------
    470
                                    -  177  -
     The first observation is that radionuclides are nonuniformly deposited



throughout lung.  Further, the radionuclides may deposit unequally among



the lung lobes or among portions of lung lobes.   Studies of inhaled



plutonium nitrate in both rats and dogs show that immediately following



the inhalation exposure, plutonium is present in both particulate and



nonparticulate forms, as evidenced by the presence of alpha stars and



single tracks in autoradiographs, Figure 5.   Einstinium nitrate,  Figure



6, and einstinium hydroxide also show particulate and nonparticulate



forms a few days after deposition in the lung.   Autoradiographs  prepared


                             239
from dogs exposed to inhaled    PuC^ show an initial relatively  diffuse



distribution of particulate plutonium throughout the entire lung.



     A fraction of the amount of transuranics deposited in the lung may



be dissolved and absorbed into the blood. The remaining transuranic



particles and aggregates may be engulfed by  macrophages.  This has been



demonstrated in studies with plutonium.  Phagocytized plutonium  dioxide



particles are rapidly localized in the cells, Figure 7.



     The alveolar macrophage appears to be capable of transporting



transuranic particles and aggregates from the alveoli to the ciliated



epithelium lining the bronchioles.  These phagocytic cells containing



particles and aggregates can then be removed from the lung in the mucous



blanket which is propelled up the respiratory passage by ciliary action.



Transuranium elements removed from the lung  by this route are swallowed



and excreted in the feces.

-------
                                                                            471



     Both soluble and insoluble transuranics not immediately cleared



from the lung tend to become further aggregated.  This mobility and



aggregation of transuranics may have large effects on the temporal and



spatial distribution of the alpha radiation dose.  A few days after



inhalation of plutonium nitrate and other relatively soluble compounds



single tracks in autoradiographs decrease and after several weeks nearly



all of the radioactive material appears to be aggregated.  Figure 8


                     238
shows aggregation of    Pu in rat lung 100 days after inhalation of
     o)/.  Curium tends to aggregate less than plutonium (LaFuma et al.,




in press) .




     Particles of transuranium elements are transported via lymphatic




vessels in the lung and collected in the thoracic lymph nodes.   Autoradio-




graphs of lung tissues taken from dogs several weeks and months after




inhalation of PuOo show alpha stars concentrated in subpleural  areas,




apparently in lymphatic vessels, Figure 9.  Autoradiographs also suggest




that radioactive particles become immobilized in scar tissue in subpleural


                                     O O Q

areas.  Figure 10 is an example of a    PuO? particle located in scar




tissue of a dog 5 years after exposure.  Areas around the scar  tissue




appeared to be normal .




     Radioactive particles transported to lymph nodes eventually appear




sequestered in "hot spots" of scar tissue and do not appear to  be mobile.




The residence time for plutonium in lymph nodes appears to be very long.




     There is ample evidence that transuranic particles deposited in




lung are subjected to biological and physical forces.  This argues




against either particles or aggregates of transuranium elements remaining

-------
                                    - 179 -







static indefinitely, except for that which becomes immobilized in scar




tissue.  To the contrary, while the rates may be low,  movement of




transuranic particles within lung tissue by several mechanisms certainly




occurs as the lung attempts to expel the radioactive particles and other




foreign material which may have been inhaled.  The migration of deposited




radioactive particles in lung partially compensates for the nonuniformity




of the radiation exposure from the particles.




Translocation From Lung to Other Tissues




     The relative distribution among body tissues of the transuranics




translocated from lung by the circulating blood is essentially the same




for all transuranic compounds, but may differ quantitatively depending




upon the chemical and physical state of the inhaled material.




     In beagle dogs within several months after inhalation of relatively




soluble plutonium nitrate, the fraction remaining in lung decreased to




40 percent or less of the amount deposited in the lower respiratory




tract, Figure 11.  Translocation of plutonium from lung resulted in bone




accumulating about 30 percent, and liver about 10 percent.  A small




percentage was found in spleen, lymph nodes, and other soft tissues and




the remainder was excreted in urine and feces.




     When plutonium dioxide is inhaled, the lymphatic system accounts




for a large fraction of plutonium cleared from lung, Figure 12.  Data




from a 11-year study with beagle dogs shows that after 5 years lung




and thoracic lymph nodes each contained 30 percent of the plutonium

-------
                                                                              473



initially deposited in the lower respiratory tract.  After 11 years the



amount in the lung had decreased to about 10 percent and the thoracic



lymph nodes had accumulated 40 percent.  Translocation of plutonium from



lung resulted in levels in liver of about 10 percent, in bone of about 5



percent, and in the abdominal lymph nodes of about 1 percent.



     The average radiation doses to these tissues bear the same relationship



as the plutonium concentration in the tissues, Table 3.  The average



concentration of plutonium was highest in the thoracic lymph nodes and



next highest in the abdominal lymph nodes.  Average concentrations in



lung and liver were over 1000 times less than those in the thoracic



lymph nodes.  The concentrations in spleen and bone were about one-fifth



to one-tenth those in lung.  Thus, the lymph nodes received a much



higher average radiation exposure than other tissues in the body.


                                      238
     Data were presented showing that    Pu02 may be cleared from lung


                  239
more rapidly than    Pu02-  It has also been found that translocation of


r\ o Q
 JOPu from lung to other tissues in the body may be greater than for



 •"Pu, Figure 13.  Distributions of plutonium in tissues of beagle dogs


                            238         239
5 years after inhalation of    PuC>2 and    PuC>2 are compared.  After 5


                                                238
years only 10 percent of the body burden of the    Pu was in lung compared


                    239
with 46 percent for    Pu.  Accumulation in thoracic lymph nodes was


                        239            238
three times greater for    Pu than for    Pu; however, the bone burden



of 238Pu was 12 times that of 239Pu.  This illustrates that the behavior


   OOQ

of  -* PuQ2 in the body may differ significantly from that of

-------
                                    - 181 -



     All of the transuranics tend to translocate from lung to bone and


liver and, to a lesser extent, to spleen and kidney.  However, the rate


at which translocation from lung to these other tissues occurs differs


considerably among the transuranics, depending mostly on the in vivo


solubility of the compound inhaled.  For example,    CmClo,    CmO, 7~,

    O / 1
and    AmO? are readily translocated to the bone, similar to plutonium


nitrates, Figure 14.  Translocation of plutonium occurs very slowly


after inhalation of plutonium fluoride and plutonium dioxide.


     In dogs exposed to aerosols of oxides of transuranium elements,


   Cm was almost equally distributed among lung, liver, bone, and muscle

                                                f\ i -i
after one month, Table 4.  The translocation of    Am was predominately

                                                                 238
to the liver while translocation of a relatively soluble form of    Pu,

                                                     O OQ
the hydrated oxide, was mainly to bone.  More stable    Pu oxides and


        showed little translocation from lung to other tissues, but


showed greater accumulation in the thoracic lymph nodes than occurred

                    7/.-1         244
after inhalation of  H-LAm02 and    CmOx.


     The tissue distribution of transuranium elements absorbed through


the skin, from wounds or from the gastrointestinal tract is similar to


that observed after translocation from the respiratory tract.  The rate


of translocation may vary, however, because deposition in a wound or in


the lung provides a reservoir for continuous absorption into the blood


stream.   Absorption from skin or the gastrointestinal tract will be of


short duration, until the skin has been decontaminated or the GI tract


cleared, except in cases of continuous exposure.

-------
                                                                            475



     The quantitative differences in translocation of different transuranic



elements and compounds from the lung and other deposition sites can lead



to significant differences in biological effects which may occur.



DEPOSITION IN GONADS



     Because of the concern for possible genetic effects of radionuclides



deposited in the body, measurements have been made of the amounts  of



radionuclide which accumulate in the gonads of experimental animals.



This is summarized for plutonium in Table 5.  About 0.05 percent of the



plutonium in the circulating blood may deposit in testes and only  about



0.01 percent in ovaries.  In the testes about half of the plutonium



appears to be associated with germinal tissue.  Few data are available



on the deposition of the other transuranics in gonadal tissue but



preliminary results suggest that the fractional uptake will be about



the same as that for plutonium.



CROSS PLACENTAL TRANSFER



     The transfer of transuranics and other radionuclides across the



placenta have been studied in rats, Table 6.  Neptunium, plutonium,  and



einstinium show significantly less transfer to the fetus as well as  to



the placenta and the placental membranes than uranium, cesium, and


                                             241       244
cerium.  Preliminary results from studies of    Am and    Cm suggest



less transfer than has been observed for plutonium.  These results show



that the placenta is an effective barrier to transuranium elements,  and

-------
    476
- 183 -
that extremely high levels of contamination would have to  occur  in the




pregnant female before appreciable quantities of transuranium elements




would occur in the fetus.






                           BIOLOGICAL EFFECTS




     It has been shown that the distribution of the transuranium elements




among the tissues in the body varies depending upon the route of entry,




the chemical compound and the radioisotope.  The biological effects which




may occur will depend upon the radiation exposure and the  relative




radiation sensitivity of each tissue into which the radionuclide is




deposited.  These are primarily blood, bone, liver, lung,  and the lymphatic




system.  The biological effects of greatest interest are those that




might occur at low doses.  Animal experiments have identified neoplasia




as the most sensitive response to the long-term effects of transuranic




elements deposited in the body.




BLOOD




     Transuranic elements are cleared from the circulating blood within




a few days after absorption from the site of deposition such as  the




gastrointestinal tract and lung.  Therefore, the major effects seen in




blood cells will be due to irradiation of the hematopoietic tissue in




which the radionuclides are deposited or to irradiation of blood circulating




through tissues containing deposits of the radionuclide.




     Most of the hematologic effects observed after deposition of the




transuranics in the body occur at relatively high doses, doses above




those which have resulted in cancer, Table 7.  A variety of hematologic

-------
                                                                             477



effects have been reported in all animal species studied.   Summarized in



this table are only data from dog and pig experiments.   The erythrocyte



levels are only reduced at the highest doses.   Elements of white blood



cells show transient reductions following intravenous injections of all



of the transuranics studied similar to those seen after exposure to



external radiation.  Although the transuranics deposit  in  bone and lymph



nodes, leukemia has not been a common finding in animal experiments.   It



has been reported in less than a dozen rats after intravenous injection



of plutonium and americium, in a few rats after intratracheal injection



of einstinium, and in one dog (which also had osteosarcoma) after inhalation


 , 238,,
of    Pu.



     The most consistent hematologic response seen after injection and



inhalation of the transuranics is lymphopenia.  This is well documented


                    238    239        241
after inhalation of    Pu,    Pu, and    Am.  In current experiments



with dogs this is the most sensitive indication of a biological effect,


                                    239
occurring at dose levels of inhaled    Pu02 which have  not yet shown



cancer, Figure 15.  The possible health consequences of a  plutonium-



reduced level of circulating lymphocytes are not yet known.  One cannot



rule out the possibility of a relationship between the  reduction of



circulating lymphocytes, lymph node pathology, decreased immunological



competence, and the pathogenesis of transuranic-induced cancer.



BONE



     Osteogenic sarcomas appear to be the most sensitive effect following



the skeletal deposition of plutonium, americium, curium, and einstinium



in mice, rats, and dogs.  In most of these experiments  the solutions  of

-------
     478                          -



the transuranics were injected intravenously.  However, osteogenic



sarcomas have occurred after pulmonary deposition of    Cm and   ^Es in


         900                                               244    253
rats and  JOPu in rats and dogs.  In these experiments the    Cm,    Es,


    OQQ
and    Pu were largely translocated to the skeleton.



     The most informative experiment on the effects of transuranics in



bone is a beagle dog study with plutonium at the University of Utah.



This experiment began in 1952 to compare the long-term effects of intra-



venously injected plutonium and radium.  The objective was to determine the



toxicity ratio between plutonium'and radium in dogs, so that the radium



toxicity data available from human exposures can be used to infer the



toxic response to plutonium in man.  The results from the plutonium



animals in this experiment are shown in Table 8.  There were 9 to 13



animals per exposure group, injected at levels differing by about a



factor of three, and ranging from 2.9  |JiCi/kg to 0.016 |j-Ci/kg.  There was



a substantial incidence of osteosarcoma, 31 percent at the lowest level.



When it became evident that effects were occurring in the lowest exposure



groups, additional groups were added to the experiment at levels down to



0.0006 nCi/kg, which is equivalent to  the occupationally permissible



body burden for man.



     A number of long-term studies in rodents have also pointed to



osteosarcoma as the most sensitive indicator of plutonium in the skeleton,



Figure 16.  The incidence of osteosarcoma is plotted against cumulative



radiation dose to bone.  For each datum point 95 percent binomial confidence



limits are shown.  Each point represents a group of animals at a given



dose level; each type of symbol represents a given experiment.  The

-------
                                    -  186 -






open circles represent the Utah dogs and are quite clearly a separate



population from the rodents.  From these kinds of data, Mays and Lloyd,



assuming a time-independent linear dose-response relationship, have



calculated an increased incidence per rad of 0.38 percent for beagles,



0.10 percent for mice, and 0.06 percent for rats.  Although few data are



available, it appears that doses greater than those which caused bone



cancer in dogs do not cause bone cancer in miniature swine.



     Of more interest than absolute incidence figures and their uncertain



extrapolation to man, is the finding in the Utah studies that plutonium-239



is 5 to 10 times more toxic than radium-226, on the basis of the same



total energy delivered to bone.  This difference is attributed to the



more hazardous localization of plutonium on bone surfaces, whereas



radium is distributed more uniformly throughout bone.  The cells from



which bone tumors originate are located near bone surfaces.


                       OOQ
     The inhalation of    Pu02 nas n°t led to the development of osteogenic



sarcomas in experimental animals.  However, osteogenic sarcomas have


                                     238
occurred in dogs after inhalation of    PuOo» Table 9.  These occurred


                                    238
as a result of the translocation of    Pu from the lung to bone, which



received a higher radiation dose than the lungs.  Lung cancer was a



secondary finding in one of these dogs.  Another dog had leukemia and



fibrosarcoma as well as osteosarcoma.



LIVER



     Liver is comparable to bone and lung in terms of transuranic content



and radiation exposure.  However, the liver appears to be less sensitive



than bone and lung to the carcinogenic action of alpha radiation.

-------
      480
- 187 -
Malignant liver tumors were the primary cause of death in two of 96




plutonium dogs at risk in the Utah experiment.  Small, benign bile duct




tumors were incidental findings at autopsy in eight other dogs,  but




these were also seen in controls at a somewhat lower incidence.   The




liver tumors had a longer latent period than bone tumors which might




explain the lower incidence.  Because of this, the possibility remains




that liver tumors might predominate at lower doses.




LUNG




     Inhalation of relatively soluble plutonium compounds such as organic


                                  O OQ

complexes, plutonium nitrate, and    Pu02 has resulted in primary lung




cancer in rodents, rabbits, and dogs in addition to the bone cancer



                                                                253
already mentioned.  Lung cancer has also occurred in rats given     EsCl_



                                                              244
by intratracheal instillation and in rats after inhalation of    CmOx,




24^Cm(N03)3,  38Pu(N03)4,    Am(N03)3, or    Am02.  Lung cancer  has also




been observed in beagle dogs, baboons, and rodents after inhalation of
     The experimental data on plutonium-induced lung cancer are shown



in Figure 17, with tumor incidence in percent plotted against the lung



dose in rads.  These are rat, mouse, and rabbit data except for the



results from one dog study represented by the square symbols.  The dogs



seem to be more susceptible than the rodents; however, there are no dog



data below about 1000 rads.  Some of the low incidence data are of



uncertain significance because there was a low incidence of lung tumors

-------
                                    - 188 -






in the controls of some of the experiments.  For both lung and bone



tumors, the lowest dose at which a clearly significant affect has been



observed is about 30 rads.


                   253
     In rats given    EsClo by intratracheal instillation, the malignant



lung tumor incidence was 4 percent for a lung dose of 38 rads and 12.5



percent for a lung dose of 1900 rads.  The incidence of osteogenic



sarcomas in these animals was 42 percent at 230 rads and zero at 5 rads.


                                                              239
In comparison with soluble forms of the 24,000 year half -life    Pu, the


                   253
20.5 day half-life    Es was less efficient in producing lung cancer and



more efficient in causing bone cancer, providing some basis for speculating



on the dose rate effects of alpha radiation (Ballou et al., in press).



     Other experiments are in progress in the United States and abroad



to determine the carcinogenic response of inhaled curium and americium
                      239
relative to    Pu and    Pu.  Squamous cell carcinomas and bronchiolo-




alveolar carcinomas are being observed in these experiments.




     Preliminary results from several laboratories indicate that the




transuranics readily induce lung cancer in rats.  However, these same




laboratories find that Syrian hamsters tend to be much less sensitive to



the carcinogenic action of the alpha-emitting transuranium elements than




rats.  This is in contrast to results being obtained in other laboratories


     210
with    Po introduced by intratracheal injection which show a high incidence




of lung cancer.

-------
     482




     The available data on plutonium-induced lung cancer has been analyzed




to describe mathematically the relationship between cancer incidence and



radiation dose.  Although other models may have equal merit, a logarithmic



probit curve was selected based on its long usage in toxicology.  In



Figure 18, arithmetic representations of the fitted function are shown



by heavy lines for probit curves and linear regressions.  Dotted lines



show a limited extrapolation of the fitted functions.



     This analysis indicates the current status of information on plutonium-



induced lung cancer.  Studies now in progress are adding substantially



to our understanding of the dose-effect response.



LYMPH NODES



     It was shown that plutonium accumulates in lymph nodes following



deposition of plutonium in the respiratory tract.  Months or years after



the contaminating event, lymph nodes may attain concentrations of plutonium



many times the average concentrations remaining at the site of deposition



and consequently the accumulated radiation dose to some lymph nodes may



be greater than to any other tissue.  The fact that the biomedical



significance of plutonium concentrations in lymph nodes is unknown is a



major concern in establishing permissible limits for plutonium.


                                                                 239
     Although dogs have been studied for 11 years after inhaling    PuC>2



and rodents have been studied in life span experiments after inhalation



of a variety of plutonium and other transuranic compounds, primary



cancer of lymphatic tissue has not occurred.  In dogs which had primary

-------
                                    -  190  -

                                                                           483



cancer, metastasis to mediastinal lymph nodes and lymphatics occurred,



but only one dog had a possible malignant lymphoma and this was confined



to the mesenteric and mandibular lymph nodes.  Therefore,  it can be



concluded that the lymph nodes are not especially susceptible to the



carcinogenic action of alpha radiation from plutonium.



RELATIVE SENSITIVITY OF DIFFERENT SEGMENTS OF THE POPULATION



     An important question relevant to the establishment of exposure



standards for radiation or other potentially hazardous agents is whether



all segments of the population are equally sensitive.   Research on this



question relative to the transuranics  has not been extensive; however,



some information has been gained from  experiments with rats.



Effect of Age on Osteogenic Sarcoma Response to Plutonium



     Studies of rats given plutonium intravenously indicate that the



newborn and weanling may be slightly more sensitive than the adult to



plutonium-induced osteosarcoma, Figure 19.  The decreased  incidences at



the higher doses for the weanlings and newborns are probably due to



shortened life spans for these groups  which did not allow the full



cancer potential to be expressed.  However,  the high dose  adult group



also showed a significantly shortened  life span and still  had a high



incidence of bone cancer (50 percent).


                          253
     A similar study with    Es did not indicate a difference in the



incidence of osteogenic sarcoma between the adult and  weanling groups at



bone doses of 100, 500, and > 2000 rads (D.  D. Mahlum, personal communication).

-------
       484
The Effect of Iron Deficiency




     Iron deficiency is common in the human being particularly in pregnant




women, pre-menopausal women, and in young children.   Because of the




metabolic relationship between iron and the transuranics in the blood,




iron deficiency could have a bearing on the distribution and subsequent




biological effects of the transuranics.  In an experiment with mice




rendered iron deficient it was found that deposition of intravenously




injected plutonium in bone of the iron deficient mice was much greater




than in the controls.  This suggests that persons deficient in iron




could have an increased susceptibility to plutonium-induced osteosarcoma.




Iron deficiency did not affect the deposition of plutonium in gonads




(H. A. Ragan, personal communication).




THE "HOT PARTICLE" ISSUE




     It was recognized in the early 1940's that plutonium particles




deposited in the lung would irradiate cells in the immediate vicinity of




the particle rather than the entire lung.  This gave rise to the concern




that plutonium particles might be exceptionally efficient in causing




lung cancer.  Research during the past nearly 30 years has provided no




evidence for an enhanced effect of the localized radiation dose from




plutonium.  Although not conclusive, experimental results to date suggest




that plutonium particles might be less hazardous than the same amount of




plutonium distributed throughout the lung because many fewer cells would




be exposed to alpha radiation.  However, experiments to resolve this




question are technically difficult because inhaled plutonium does not

-------
                                    - 192 -                                  485



distribute throughout the lung but tends to aggregate.  Also, such


experiments require life time studies with large numbers of animals.   A


few experiments which bear on the issue have been completed with several


transuranic compounds, others are still in progress.

                                                        OOQ
     Rats exposed to relatively non-particulate soluble    Pu which was


highly dispersed during its relatively short residence time in the lung


developed a higher incidence of lung cancer than has been observed for

                 OOQ       239
more particulate    Pu and    Pu sources (Sanders, 1973).  The implication

                      o no
is that the dispersed    Pu exposed more cells to the carcinogenic


action of the alpha radiation than particulate plutonium.


     In France the influence of non-uniform distribution of alpha radiation

                                                      238
in lung is being studied in about 700 rats exposed to    Pu(NO~)>,


239Pu(N03)4, 239Pu02, 241Am(N03)3, 241Am02, or 244Cm(N03)3.  Of these

              244
transuranics,    Cm was the most uniformly distributed throughout the


lung and was most effective in reducing survival time followed in descending


order by 238Pu, 241Am, 239Pu(N03)4> and 239Pu02 which was the most


heterogenously distributed (LaFuma et al., in press).

                                            e\ i i
     The relatively uniform distribution of    Cm in lung is illustrated


by the autoradiogram in Figure 20.  This can be compared with the more

           239
aggregated    Pu(NO )  in Figure 21.  Although the experiment is not  yet
                   3 4

completed, nearly 200 squamous cell carcinomas and bronchiole-alveolar


carcinomas have been observed.  The authors report that the results to

                                              244
date indicate that for lung cancer induction,    Cm, the most widely

-------
    486
                                     -  193  -
dispersed alpha emitter, is more effective than the more particulate



transuranics.  Again, the implication is that more cells are exposed to


                                       244
the alpha radiation from the dispersed    Cm than from the other less-



dispersed transuranics.



     Another experiment was designed specifically to address the "hot



particle" issue at the Los Alamos Scientific Laboratory (Richmond and



Voelz, 1972, Anderson et al., 1974).  It is impossible to distribute



alpha emitting sources uniformly throughout the lung by inhalation



exposure due to the tendency for such material to be mobilized and



aggregated by clearance processes.  Therefore, 10 am zirconium oxide



microspheres containing PuO~ at specific activities corresponding to



respirable particles were given intravenously to hamsters.  The micro-



spheres were observed to be firmly fixed in the lung vasculature and were



highly dispersed throughout the lung.  By varying the quantity of Pu in



the microspheres the microdistributiori of the radiation dose could be



controlled.  A total of over 2000 hamsters have been given 2000 to



1,600,000 microspheres ranging in activity from 0.07 to 59 pCi per



microsphere.  Total lung burdens range from 0.14 nCi to 354 nCi.  This



study is still in progress.  However, nearly 1200 animals have lived



their full life span or have been sacrificed.  These animals were given



a total of about 5.7 x 10  microspheres, each containing in excess of



0.07 pCi.  Three malignant tumors were observed.  This suggests a tumor



risk of about 10   per particle.  The preliminary results from this



study do not suggest that particulate sources are more hazardous than



equivalent less-particulate sources.

-------
                                    - 194 -






     In this experiment and in other experiments with plutonium particles,




the lack of significant histopathology in areas adjacent to the particles




is a common finding.  An example is shown in Figure 22 which is an



                                                       239
autoradiograph of a section from a lung of a rat given    PuC>2 by intra-




peritoneal injection (Sanders, in press).  From 0.2 percent to 2 percent




of the plutonium was phagocytized and transported to the lung where the




particles lodged in 'the vasculature similar to the microsphere experiment




with hamsters.  The lungs of these rats surprisingly showed little




evidence of pulmonary pathology that could be attributed to the plutonium.




The radiation doses to the lungs of the several groups of a total of 151




rats were 10, 20, 40, 170, and 600 rads.   Only one lung tumor occurred;




this was observed after 823 days in one rat of 36 which had a lung dose




of 10 rads.




     Another example of Pu particles residing in lung which shows no




evidence of histopathology is illustrated in Figure 23.  This is an




autoradiograph of a histologic section from a lung of a dog about 2



                          239
years after inhalation of    Pu02 showing several particles in areas of




normal lung.  Other sections of the lung  from this dog showed evidence




of plutonium-induced changes.  However, normal appearing areas such as




this containing plutonium particles, are  not uncommon in animal experiments.




     The pathogenesis of plutonium induced neoplasia is not fully understood.




However, observations made during the past 10 years, suggest that phagocytosis




of the plutonium particle is one of the steps leading to necrosis and a




connective tissue response such as fibrosis  and/or an epithelial response




such as hyperplasia, metaplasia, and eventually neoplasia.
487

-------
  488
     In agreement with the observations from studies  of plutonium and



other transuranics deposited in lung are the results  from a recent study



of the incidence of chromosome aberrations in the liver as a function  of


                239
the size of the    PuC>2 particle administered.   For the same total



quantity of plutonium administered,  the more uniform  dose was more



effective in producing chromosome aberrations than the more localized



doses (Brooks et al., 1974).




     The "hot particle" issue continues to be the subject of controversy



and will not be settled to everyone's satisfaction until more of these



difficult and expensive experiments  are completed. However, the results



of relevant experiments at laboratories in the United States, France,



and the United Kingdom have led the  scientists  conducting the experiments



to believe that particulate alpha emitting transuranics in the lung do



not represent a higher risk of lung  cancer than the equivalent quantity



of relatively non-particulate transuranium elements distributed



throughout the lung (LaFuma et al.,  in press; Dolphin et al., 1974).





                  COUNTERMEASURES FOR INHALED PLUTONIUM



     An important consideration in evaluating the potential health



effects of plutonium is the availability of effective countermeasures



for plutonium exposures.  Since no acceptable therapy exists for radiation



exposures, the only really effective countermeasure for inhaled transuranics




is their removal from the body.  Inhaled insoluble plutonium is not



effectively mobilized by a wide variety of agents which have been tested.

-------
                                                                              489




The most effective method for removing plutonium from the lung is lavage




with isotonic saline.  In rats, dogs, and baboons about 50 percent of




the lung burden can be removed by lavage.




     A chelating agent, Diethylenetriaminepentaacetic acid (DTPA), has




had wide application for treating persons occupationally exposed to




plutonium.  It reduces the liver burden and, to a lesser extent, the




bone burden causing an increased urinary excretion of plutonium.  DTPA




has also been found to be effective in reducing the systemic burden of




Am, Cm, and Es.  However, it is not effective in removing insoluble




transuranics from lung or lymph nodes.




     Therefore, it must be recognized that truly effective counter-




measures for transuranic contamination have not yet been found,  and that




for all practical purposes transuranics deposited in the body will




remain there until removed by natural processes, most of which are very




slow.  The development of therapeutic procedures for removing transuranics




from the body are high priority research projects in several laboratories.






                         SUMMARY AND CONCLUSIONS




STATUS OF CURRENT RESEARCH




     Research relevant to the problem of low level exposures to  transuranium




elements has increased significantly during the past 10 years.  Life




span animal studies of the biological effects of the transuranium elements




have greatly expanded.  The current status of our knowledge of plutonium




is shown in Figure 23.  The dose levels at which major biological effects




have been observed in experimental animals are shown relative to the

-------
    490
- 197 -
maximum permissible lung burden of 0.016 p,Ci for occupational exposures.



Lung cancer has been observed at dose levels equivalent to about 100



times the maximum permissible lung burden.   Current experiments are



directed towards determining whether health effects will occur at lower



levels.  However, because of the cost in terms of time and money of such



experiments, the most productive research may be that which is directed



towards understanding the mechanisms by which alpha emitters induce



cancer.  Some of these studies are in progress and more are anticipated.



RESEARCH IN PROGRESS



     Research is in progress in several laboratories in the United States



and abroad to examine the late effects of low levels of transuranic



elements.  Three dog studies are in progress in the United States.  At



the University of Utah the late effects of  transuranics are being studied



after intravenous administration, Table 10.  This study is primarily



directed at effects in bone and liver.  At  the Lovelace Foundation dogs


                                              238       239
are being exposed to monodisperse aerosols  of    Pu and    Pu, Table 11.



A total of 360 dogs are being given single  exposures to plutonium aerosols



with particle sizes ranging from 0.75 to 3  p-m aerodynamic diameter.



Initial lung burdens range from 0.1 to 5.6  \id.



     At Battelle-Northwest 221 dogs have been exposed to polydispersed


            238         239
aerosols of    Pu02 and    Pu02, Table 12.   Initial lung burdens ranged



from 0.002 |iCi to 5 p-Ci.



     In addition to these major dog experiments, all of the available



transuranics are being studied in thousands of rats and hamsters following



inhalation, ingestion and intravenous injection.  These long term animal

-------
                                                                             491




experiments are being supplemented  by  increasing levels of research to



develop a better understanding of how  alpha radiation  from the transuranium



elements causes cancer and other  possible health effects.



     No significant surprises  are expected from this intensified research



effort.  However, the results  will  help  us sharpen our predictions of the



health consequences of the expected increased utilization and availability




of the transuranium elements.

-------
  492                            -

                                  References

Anderson, E. C., Holland,  L.  M.,  Prine,  J.  R.,  and Richmond,  C.  R.,
"Lung Irradiation with Static Plutonium Microspheres,"  In:   Experimental
Lung Cancer, Carcinogenesis and  Bioassays,  Springer-Verlag,  Heidelberg,
in press, CONF-740648-1,  1974.

Bair, W. J., and Thompson, R. C., "Plutonium:   Biomedical Research,"
Science Vol. 183: 715-722, 1974.

Bair, W. J. , "Toxicology of Plutonium,"  In:   Advances in Radiation
Biology, Vol. 4 (J. T. Lett,  H.  Adler,  and  M.  Zelle,  Eds.),  Academic
Press, 1974.

Bair, W. J., Richmond, C.  R., and Wachholz, B.  W., "A Radiobiological
Assessment of the Spatial Distribution of Radiation Dose from Inhaled
Plutonium," USAEC, WASH-1320, Sept., 1974.

Bair, W. J., "Consideration of Reactor Accident Exposure Guides  for
Plutonium,"  In:  Conference on Fast Reactor Safety (CONF-740401).
NTIS, Springfield, VA, 1974.

Bair, W. J., "The Effects on Populations of Exposure to Low Levels
of Ionizing Radiation."  Health Phys. 26, 588-591.  (book review).

Ballou, J. E., Dagle, G.  E.,  and Morrow, W. G., "The Long-Term Effects
of Intratracheally Instilled 253gsci  j_n Rats," Radiation Res. (in press)

Buldakov, L. A., Lyubchansky, E.  R., Moskelev,  Y. I., and Nifatov, A. P.,
(1969), In "Problemy Toksikologii Plutoniya," Atom Publications,
Moscow (translated as "Problems  of Plutonium Toxicology,"  U.S.  Atomic
Energy Commission LF-tr-41, 1970).

Brooks, A. L., Retherford, J. C., and McClellan, R. O., "Effect  of
239puc-2 Particle Number and Size on the Frequency and Distribution
of Chromosome Aberrations in the Liver of the Chinese Hamster,"
Radiation Res. 5_9, No. 3, Sept.,  1974.

Dolphin, G. W., Smith, H., Popplewell, D. S., Stather, J. W., Adams,
N., Spoor, N. L., Brightwell, J., and Bulman, R. A., "Radiological
Problems in the Protection of Persons Exposed to Plutonium," Document
NRPB-R29, National Radiological Protection Board, Harwell, England,
1974.

Healy, J. W., (1974), "Contamination Limits for Real and Personal
Property," Los Alamos Scientific Laboratory Report No. LA-5482-PR.

-------
                                    - 200 -
                                                                             493
Hodges, H. C., Stannard, J. N.,  and Hursh, J. B. - Editors, Uranium,
Plutonium, Transplutonic Elements Handbook of Experimental Pharmacology
XXXVI, Springer-Verlag, New York, 1973.

Hungate, F. P., Ballou, J. E., Mahlum, D. D., Kashima, M., Smith, V. H.,
Sanders, C. L., Baxter, D. W., Sikov, M. R., and Thompson, R. C., "Pre-
liminary Data on 253Es and 249sk Metabolism in Rats," pp. 653-656.  In:
Biological Implications of the Transuranium Elements, R. C. Thompson and
W. J. Bair (eds.), Health Physics, Vol.  22, June 1972.

LaFuma, J., Nenot, J. C., Norin, D., Masse, R., Detivier, H., Nobile, D.,
and Skupinski, W., "Respiratory Carcinogenesis in Rats after Inhalation
of Radioactive Aerosols of Actinides and Lanthanides in Various Physico-
chemical Forms," Symposium on Experimental Respiratory Carcinogenesis and
Bioassays, Seattle, WA, 1974 (in press).

Mahlum, D. D., Sikov, M. R., "Influence of Age on the Late Effects of
Plutonium-239 in Rats," Radiat.  Res. 59, 171, (abstract), 1974.

Mahlum, D. D., and Sikov, M. R., "Distribution and Toxicity of Monomeric
and Polymeric 239Pu in Immature and Adult Rats," Radiat. Res. 60, 75-88,
1974.

McClanahan, B. J., Ragan, H. A., and Mahlum, D. D., "Plutonium Metabolism
in Newborn and Weanling Pigs," Radiat. Res. 59. 171, (abstract), 1974.

McClellan, R. 0., Boyd, H. A., Gallegos, A. F., and Thomas, R. G.. "Retention
and Distribution of ^Cm Following Inhalation of 2/wCmCl3 and 2^CmOi.73
by Beagle Dogs," Health Physics. Vol. 22, pp. 877-885, 1972.

McClellan, R. 0., "Progress in Studies with Transuranic Elements'1 at
the Lovelace Foundation, Health Physics, Vol. 22. pp. 815-822, 1972.

Park, J. F., Catt, D. L., Craig, D. K., Olson, R. J., and Smith, V. H.,
Solubility Changes of 238pu Oxide in Water Suspension and Effect on
Biological Behavior after Inhalation by Beagle Dogs, pp. 719-724, In:
Third International Congress of the International Radiation Protection
Association. Vol. 1, W. S. Snyder (ed.), (CONF-730907).  NTIS, Springfield,
VA, 1974.

Park, J. F., Lund, J. E., Ragan, H. A., Hackett, P. L., and Frazier,
M. E., "Inhaled 238puO -Induced Bone Tumors in Dogs," presented at Bone
Tumor Conference, Dusseldorf Germany, 1974.

Park, J. F., "Late Effects of Inhaled Plutonium in Dogs," Fifth International
Congress of Radiation Research,  Seattle, WA, July 14-20, 1974 (in press).

-------
  494                             - 201 -


Richmond, C. R.,  Langhan, J.,  and Stone,  R.  S.,  "Biological  Response to
Small Discrete Highly Radioactive Sources,"  Health Physics Vol.  18,
pp.  401-408, 1970.

Richmond, C. R. and Voelz, G.  L., eds., Annual Report of the Biological
and Medical Research Group (H-4)  of the LASL Health Division, January
through December 1971, Los Alamos Scientific Laboratory report LA-4923-PR,
pp.  18-34, April, 1972.

Richmond, C. R.,  and Voelz, G. L., eds.,  Annual Report of the Biological
and Medical Research Group (H-4)  of the LASL Health Division, January
through December 1972, Los Alamos Scientific Laboratory report LA-5227-PR,
pp.  1-11, March,  1973.

Richmond, C. R.,  and Sullivan, E. M.,  eds.,  Annual Report of the
Biomedical and Environmental Research  Program of the LASL Health
Division, January through December 1973,  Los Alamos Scientific
Laboratory report LA-5633-PR,  pp. 1-9, May,  1974.

Richmond, C. R.,  and Thomas, R. L., "Plutonium and other Actinide
Elements in Gonadal Tissue of Man and  Animals."  Accepted for publication
in Health Physics (in press).

Sanders, C. L., and Adee, R. R.,  "The  infrastructure of Mononuclear
Phagocytes following Intraperitoneal Administration of 239puQ2
Particles," J. of the Reticuloendothelial Soc. Vol. 6, No.  1, Feb.,  1969.

Sanders, C. L., "Carcinogenicity of Inhaled  Plutonium-238 in the Rat,"
Radiat. Res. 56,  540-553, 1973.

Sanders, C. L., Thompson, R. C.,  and Bair, W. J. (1970), "Lung Cancer:
Dose Response  Studies with Radionuclides,"  In:  Inhalation  Carcinogenesis,
(M. G. Hanna,  Jr., P. Nettesheim, and  J.  R.  Gilbert, eds.),  CONF-691001:
285, AEG Symposium Series No.  18, U.S. Atomic Energy Commission, Office
of Information Services, Springfield,  VA.

Sanders, C. L., "Effects of PuC>2 Particles Deposited in the  Lung Following
Intraperitoneal Injections" Health Physics (in press).

Sanders, C. L., and Dagle, G.  E., "Studies of Pulmonary Carcinogenesis in
Rodents Following Inhalation of Transuranic  Compounds," Symposium on
Experimental Respiratory Carcinogenesis  and  Bioassays,  Seattle, WA, 1974,
(in press).

-------
                                     - 202 -
                                                                           495
                                                      239
Sikov, M. R., and Mahlum, D. D.,  "Influence of Age on    Pu Distribution,
Dosimetry, and Effects."  Trans.  Amer. Nuclear Soc. 18,  389,  (abstract)
1974.

Smith, V. H., "The Biological Dispostion of £3(^3)3 in  Rats  after
Intravenous, Intramuscular and Subcutaneous Administration,"  pp.  725-
730, In:  Third International Congress of the International Radiation
Protection Association, Vol. 1, W. S. Snyder (ed.), (GONF-730907).
NTIS, Springfield, VA, 1974.

Stover, B. J., "Dose-Response Relationships for Beagles  Injected  with
239Pu(IV) or ^lAm(III)" Fifth International Congress of Radiation
Research, Seattle, WA, July 14-20, 1974 (in press).

Thomas, R. G., McClellan, R. 0.,  Thomas, Randi L., Chiffelle, T.  L.,
Hobbs, C. H., Jones, R. K., Mauderly, J. L., and Pickrell,  J. A.,
Health Physics Vol. 22. pp. 863-871, 1972.

Thompson, R. C., "Effects of Plutonium in Animals," Presentation  before
the ad hoc Committee of the USAEC Advisory Committee on  Reactor Safeguards,
Los Alamos, NM, January 4, 1974.

Thompson, R. C., Summary and Speculative Interpretation  Relative  to
Exposure Limits, Fifth International Congress of Radiation  Research,
Seattle, WA, July 14-20, 1974 (in press).

-------
496
- 203 -
   Acknowledgement:  The author is indebted  to  the  staff




   of the Biology Department, Battelle,  Pacific Northwest




   Laboratories; to Dr. E. C. Anderson,  Health  Division,




   Los Alamos Scientific Laboratory;  and to  Dr. C.  H. Hobbs,




   Inhalation Toxicology Research Institute,  Lovelace




   Foundation for results from current research and for




   future research plans at their respective laboratories.

-------
                           - 204 -
                                                                   497
RETENTION OF PLUTONIUM IN PULMONARY REGION
OF LUNG
                      ANIMAL
      ISOTOPE COMPOUND SPECIES
        238pu
                          0   200  400   600  800 1000
                           LUNG RETENTION HALFTIME (DAYS)
                         Figure 1

-------
498
            The attached  tables were inadvertently omitted



       from the original  printing of the AEC testimony.  They



               are included  here in the record however.

-------
                                                                            499

                               TABLE 1
                  Gastrointestinal  Tract Absorption of
                         Transuranics  in Rats

                    (percent of Administered Dose)
Transuranic
233U
237NP
238Pu
239Pu


241Am


244Cm



249Bk
252Cf
253ES

Compound
Nitrate
Nitrate
Nitrate
Nitrate
Chloride
Oxide
Nitrate
Chloride
Oxide
Nitrate
Chloride
Oxide (aged in H^O)
Oxide (fresh)
Chloride
Nitrate
Nitrate
Chloride
Newborn
7
1
2
0.3
-
-
9
-
0.5
6
-
2
0.3
-
4
4
-
Adult
0.2
0.9
0.03
0.003
0.007
0.0001
0.07
0.03
0.01
0.2
0.05
0.1
0.03
0.01
0.1
0.03
0.06
Information in this Table was developed  from  published reports and
from results of current research at  PNL  by  M.  F. Sullivan.

-------
500
                                          TABLE 2
                        Absorption of Pu and Es through Intact Skin
             Pu or    Es Compound


          Pu(N03)4 in 10 N HN03

          Pu-tributyl phosphate in
            CC14

          Pu(N03)4 in C.I N HN03

          Pu(N03)4 in 10 N HN03

          Pu(N03)4

          Pu citrate

          Pu in 9% HC1 + EDTA

          Pu(N03)4 in 0.4 N HN03

          Es(N03)3 in 0.01 N HN03
Animal
Species
rat
rat
rat
rat
rabbit
swine
man
man
rat
Duration of
Exposure
1 hour
15 min
5 days
5 days
14 days
10 days
-
1 hour
7 days
Percent
Absorbed
0.05
0.04
0.1-0.3
1-2
0.15
0.25
0.01
0.002
0.05

-------
                                                          501
                        TABLE  3
   Relative Concentrations  of  Plutonium in Tissues of
       Dogs 7-9 Years  After Inhalation of 239pu02
                                 Relative Concentration
       Tissue                        of Plutonium
Lung                                        1
Thoracic Lymph Nodes                      1400
Abdominal  Lymph Nodes                      100
Liver                                       0,5
Spleen                                      JO. 2
Bone                                        0.06

-------
502
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-------
                                                     503
              TABLE 5
 Deposition of Plutonium  in Gonads
                       Percent of
                       Pu  in Blood
Testes                   0.05


Ovaries                  0.01
From C.  R.  Richmond and R. L. Thomas - in press

-------
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-------
                                      TABLE 7
                    Hematologic Effects of Transuranic Elements
                                                                            505
Isotope
I.V.
226Ra
239Pu
228Th
228Ra
241Am
249Cf
253£s
253Es
242Cm
Inhaled
239Pu
238Pu
241Am
Species
dog
dog
dog
dog
dog
dog
dog
pig
dog
dog
dog
dog
Dose
(yCi/kg) RBC
.06-10.4 +
.02-2.9 +
.02-2.8 +
.05-8.5 +
.02-2.8 +
2.8
2.9 4 t
3.0
2.6 4 t
.08-5.8*
.14-5.4*
^25
Neutro Lymph
4 t 4
4- t 4
4- 4-
4- 4-
1 4-
4 t 4
4- t 4 t
4 t
4 t 4
4
+ 4-
4 4-
Mono
4 t
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4- t
4- t
4- t
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4- t
4- t

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4
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4- t
4-
4
4
4 t
4 t
4- t
4-

-
\
 *Initial  Lung Burden
 ^Depression at highest doses  only
 4-Sustained depression
4'tDepression with evidence of  recovery
 -No effect
 (Summary  of published and  unpublished data provided by H. A. Ragan, PNL)

-------
506
                          TABLE 8
              Plutonium-Induced Bone  Cancers
                     in Utah Dog Study
 Injected Dose             Cancer                 Dose to
   (yCi/kg)               Incidence           Bone of Cancer Dogs
                                                   (RAD)
 2.9                    7/9  =  78%                4900
 0.9                   12/12 = 100%                1300
 0.3                   12/12 = 100%                 600
 0.1                   10/12 =  83%                 310
 0.05                   9/13 =  69%                 190
 0.016                  4/13 =  31%                  78
 Controls                 0

-------
                                         TABLE 9
                                                             ono
                      Osteosarcoma in Dog:  after Inhalation  of    PuO
                                                                                       507
                                                        Plutonium Distribution
                                                          (% of Body Burden)
238PuO?
Calcined at 350°C
Crushed microspheres
Survival
Time
(Months)
23-70
22-76
Terminal
Body Burden
(yCi) Lungs
2.6-3.0 17
0.2-3 20
Thoracic
Lymph
Nodes Liver
9 23
12 16
Osteo-
Bone sarcoma
47 5/8*
24 4/8**
 * 1  lung tumor

** 1  myelogenous  leukemia and 1 fibrosarcoma
(Park et al.,  in  press)

-------
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-------
                                                                      509
                                 TABLE 11

                    Life Span  Study of Inhaled Plutonium
                           In  Oogs at  Lovelace
           Particle Size*       Initial Lung Burden
               (urn)             	(uCi)	        Number of Dogs
                                                     1          72
                                                                72
                                                                72
                                                                72
                                                                72
238Pu02
238PU0.
2
239PuO,
i.
239Pu02
239PuO-
2
1.5 5.6, 3, 1.4, 0.7, 0.3,
3.0

0.75

1.5
3!0

                                                        360 + 60 controls
*Aerodynamic diameter  of monodisperse aerosols

-------
510
                             TABLE 12


              Life  Span Study of Inhaled Plutonium  in
                    Dogs at Battelle-Northwest
23V6o2
Initial Lung Burden
(nCi)
.002
.02
.08
.35
1.3
5.2

No. of Dogs*
20
20
20
20
20
13
113
239Pu02
Initial Lung Burden
(yCi)
.004
.02
.08
.3
1.1
5.8

No. of Dogs*
20
20
20
20
20
8
108
  *Half male and  half female + 40 controls

-------
                            - 205 -
                                                                   511
PULMONARY RETENTION OF INHALED PuO2 IN DOGS
          1000


       - 800

       o
       W5
          600
          400
          200
                1000°  350°   450°   123°  900'
-238puQ2-

  750°
                 2.8    2.8    4.8    1.3    .12
                        PARTICLE SIZE, MMD (//m)
   .1
                         Figure 2

       Pulmonary Retention of Inhaled  PuCL in Dogs

-------
512
                                  -  206 -
       100
Ctf —

CD o
O t-
50
        10
                     RETENTION OF TRANSURANICS IN RAT LUNGS
                       238    239    241        242
                       "°Pu,    Pu,    Am, and   Cm INHALED AS
                       NITRATES
                         'EsCI3 - INTRATRACHEALLY INSTILLED
                                     i     i     i     i     i
                                                  239
                                                     Pu
                                    50
                          TIME AFTER EXPOSURE. DAYS
                                                     100
                                Figure 3
             Retention of transuranium elements in rat lungs (238pU)
             239pUj 241/\m ancj 242cm  - Nenot et al.,  1972; 253EsCl3 -
             Ballou et al.,  submitted for publication)

-------
                              - 207 -
                                                                        513
                      LUNG RETENTION OF INHALED
               TRANSURANIC ELEMENTS IN BEAGLE DOGS
      100
       10
CO O
O t=
  £   1.0
      0.1
244
               CmCI
                                        23%02-3500C
                                        J	I
                        400              800

                       TIME AFTER EXPOSURE, DAYS
                                           1200
                          Figure  4
         (Redrawn from R.  0.  McClellan,  1972)

-------
514
  - 208 -
   'ViC*
     V,v-
*y'*   ra*®>A>?
tfv  v* /   v^ <
                       ^>*x*'-
             t*fc
                       Figure 5
       Autoradiograph showing particulate and non-
       particulate plutonitun in lung of a rat immediately
       after inhalation of 239pu(N03)4
       (Provided b.y J. E.  Ballou, PNL)

-------
                  - 209 -
     &,  *.'/     '
     **^lg. ft V
        \.J8B    *
                                                         515
                   Figure 6
Autoradiograph of a histologic section  from a

rat lung 7  days after inhalation of "3Es(N03)3


(Provided by J. E. Ballou,  PNU   PNL747349-7

-------
516
                                   - 210 -
                                                        /.*
                                                         ȣ
                                                     1-
                                 Figure 7


        Electromicrograph of plutonium dioxide particles  (inset)
        from an  aerosol  inhaled by rats and of a cell  from  the  lung
        of an exposed rat.  The dense appearing material  in the cell
        is plutonium dioxide which had been engulfed by the cell.
        (Provided  by C.  L. Sanders and R.  P.  Adee,  PNL)   PNL0673470-5

-------
                              - 211 -
                                                                       517
    r
                                                                    n»m
                                                               .**»•• p
             V'       ,     '  '.S
                        J*      /  v
                                                    -
                          Figure 8


                                      238
Autoradiograph showing aggregation of    Pu  in a lung
of a rat 100 days after inhalation of  238Pu(N03)4.
(Provided by J. E. Ballou, PNL)   PNL747349-3

-------
518
                                     - 212 -
                                  Figure 9




                                239
         Autoradiograph showing    Pu02 particles in a subpleural

         area of lung from a  dog.  (provided by G. E. Dagle, PNL)


         PNL747349-2

-------
    **  . ;
                             - 213 -
                                                                    519

                                4«^
                          \f
 %  1


4*1
                                                     V1*

                         Figure 10
                      238
Autoradiograph  showing    Pu particles in

lung of a  dog 5 years after inhalation of

(Provided  by J. E.  Lund)   PNL747349-6
            jr tissue  in  a

-------
520
           - 214 -
    DISTRIBUTION OF PLUTONIUM IN DOGS AFTER

    INHALATION OF 239Pu(NO3)4
           -3 TOO
           o
           z

           r?  80
          UJ H

          D W   60


          52 Q-
*
 \
 \
I-  \
          OfiC
               40
          *2   20
          o
           LL
                                         LUNG
                      •  BONE


                     _JL.	

                        LIVER
                         100       200       300


                        TIME AFTER EXPOSURE (DAYS)
                         Figure 11

-------
                   - 215 -
                                               521
DISTRIBUTION OF PLUTONIUM IN DOGS AFTER
INHALATION OF 239puQ2
                      THORACIC LYMPH NODES
                  ABDOMINAL LYMPH NODES
                                        10
              TIME AFTER EXPOSURE, YEARS
                    Figure 12

-------
522
                    - 216 -
     DISTRIBUTION OF PLUTONIUM IN TISSUES OF DOGS
     5 YEARS AFTER INHALING *«>PuO2 OR
-  100

LLI
O
CC
              0)

              a
              o
              m
              0.
              LLI
              H

              o
              u
              LLI
              D
              M
              W
    80
                 60
                 40
    20
                                238Pu
                     LUNG
                                              BONE
                            THORACIC
                           LYMPHNODES
                                       ALL OTHER
                                        TISSUES
                                Figure 13

-------
                        -  217 -
                                                                       523
             SKELETAL RETENTION OF  INHALED TRANSURANIC
                      ELEMENTS  IN BEAGLE DOGS
     100 c
1

I   10
CO

o
§i
°° u.
  O
     LO -
     0.1
          244.
               1.73
               D c
               Pu F
              *puo-qooc
                                  239pu 0, - 350°C
                                       2
                                  < 1% UNTIL AFTER 800 DAYS
                       400              800

                       TIME AFTER EXPOSURE, DAYS
                                                     1200
                      Figure 14
        (Redrawn  from  R.  0. McClellan, 1972)

-------
524
                             - 218 -
      EFFECT OF INHALED 239puQ2 ON BLOOD
      LYMPHOCYTE LEVELS
                                GROUP
MEAN INITIAL
 ALVEOLAR
DEPOSITION (fj Ci)
                  TIME (MONTHS AFTER EXPOSURE)
                          Figure 15

-------
                              - 219 -
                                                                        525
          PLUTONIUM-INDUCED OSTEOSARCOMA IN EXPERIMENTAL ANIMALS
    100
   * 80
   o
   fe 40
   o
   I
   o
   •z.
   - 20
            I.I II...1
                    10            100            1000
                    CALCULATED CUMULATIVE MEAN DOSE TO BONE (RADS)
10,000
                          Figure 1 6

 Plutonium-induced Osteosarcoma in  Experimental  Animals.
 Mean  incidence and radiation dose  values are  those reported
 in  the  literature.   Binomial confidence limits  were
 calculated  from data included in the referenced literature.
 o   239Pu  Citrate, Monomeric - IV - Dogs (from Jee,  1972)
 A   239Pu  Citrate -  Inhaled - Rats  (from Buldakov  and  Lyubchansky, 1970)
 V   239Pu  Plutonylpentacarbonate -  Inhaled - Rats  (from Buldakov and
    Lyubchansky, 1970)
0   239Pu  Nitrate -  Sub- and Intracutaneous -  Rats  (from  Buldakov, et al.,
    1971)
    239Pu  Citrate -  Oral (Daily) - Rats (from  Buldakov  et  al.,  1969)
    239Pu  Plutonyltriacetate - I.T.  - Rats (from Erokhin  et  al.,  1971)
    239Pu  Citrate -  IV - Mice (from Finkel  and Biskis,  1962)
D   239Pu  Citrate, Monomeric - IV -  Mice (from Rosenthal  and Lindenbaum,
    1967)

-------
526
                                    -  220  -
         H  239Pu Citrate, Polymeric - IV -  Mice  (from  Rosenthal and
            Lindenbaum, 1967)
         X  238Pu02 - Inhaled - Rats (from C.  L.  Sanders,  1973)

         *  239Pu Nitrate - I.T.  - Rats (from  Erokhin et al.,  1971)
         +  239Pu Nitrate - I.T.  - Rabbits )from  Koshnurnikova et  al.,
            1971)
         *  239Pu (Pentacarbonate) - Inhaled - Rabbits  (from
            Koshnurnikova et al., 1971)
         ^  239Pu Citrate - Inhaled - Rats (from  Koshnurnikova et  al.,  1971)
         *"  239Pu Pentacarbonate - Inhaled - Rats (from Koshnurnikova
            et al., 1971)
          (See Bair, 1974 for complete references)

-------
                             -  221 -
                                                                        527
          PLUTONIUM-INDUCED LUNG CANCER IN EXPERIMENTAL ANIMALS
   100
  e>
   60
  o
  UJ

  §40
  O
  O
  z


   20
                                      'li
                   10              100              1000
                    CALCULATED CUMULATIVE MEAN DOSE TO LUNG (RADS)
10,000
                          Figure 17
Plutonium-induced Lung Cancer in Experimental Animals
Mean incidence  and radiation dose values are those
reported  in  the literature.  Binomial confidence  limits
were calculated from data included in the referenced
1iterature.


I  239Pu02 -  Dogs (from Park and Bair, 1972)

V  239Pu02 -  Mice (from Temple et al., 1959)
A  239Pu02 -  Mice (from Temple et al., 1959)

*  239Pu02 -  Mice (from Wager et al., 1956)

o  239Pu  Citrate -  Rats (from Buldakov and Lyubchansky,  1970)

•  239Pu  - Plutonylpentacarbonate -  Rats (from Buldakov  and
   Lyubchansky,  1970)

x  238Pn  - Rats  (from  C.  L.  Sanders,  1973)

-------
528
             <  239Pu  -  Rats  -  Pu(NOsK (from Erokhin et al.,  1971)

             +  239Pu  -  Rabbits  -  Pu(N03K (from Koshnurnikova et al.,  1971)

             *  239Pu  -  Rabbits  -  NHf Pu Pentacarbonate (from  Koshnurnikova
                et al.,  1971)


             (See Bair,  1974  for complete references)

-------
                           - 223  -
                                                                 529
                    PLUTONIUM  INDUCED  LUNG  CANCER
                      WEIGHTED LINEAR REGRESSION
                    COMPARED WITH PROBIT ANALYSIS
       100





        90





        80





        70

    s£

    ttf
    LLJ
    ^   60

    
-------
530
                                     - 224  -
                             OSTEOSARCOMA  INCIDENCE IN FEMALE  RATS
               (815)
                      °\
                      (780)
                                                       (555)
                                                       A  ADULT

                                                       W  WEANLING

                                                      NB  NEWBORN

                                                       0  MEAN SURVIVAL TIME
                                                         I
                              I
 I
400          800         1200

     SKELETAL RADIATION DOSE, RADS
1600
                                     Figure  19
                (D.  D. Mahlum and M.  R.  Sikov,  PNL, to be published
                 in Pacific Northwest Laboratory Annual Report for
                 1974)   PNL747510-13

-------
                            - 225 -
                                                                    531
                         Figure 20

Autoradiograph of a  histologic section from a lung of a rat
after inhalation of  244Cm(N03)s.   (Provided by J. LaFuma,
Commissariat a I1  Energie Atonrique, Association Euratom.
C.E.A. CEN.  FAR.  France.)  PNL747596-4

-------
532
                                       -  226  -
                                    Figure 21
            Autoradiograph of a histologic section from a lung of a
            rat after  inhalation of 239pu(N03)
-------
                            - 227  -
                                                                     533
                        Figure 22

Autoradiograph of a  histologic section from a lung
of a rat 356 days after  intraperitoneal, injection
of 239pu02 particles.   (Provided by C. L. Sanders,
PNL)   PNL747358-1

-------
534
                                  - 228  -
          V* »>  t
                       >'"'.
                         *
                              Figure 23



          Autoradiogram of a histologic section  from a lung of a

          dog 2 years after inhalation of 239pu02.  (Provided  by

          G. E. Dagle, PNL)  PNL66199-1

-------
                         - 229 -
                                                               535
OBSERVED BIOLOGICAL EFFECTS OF INHALED
PLUTONIUM
          MAXIMUM PERMISSIBLE
          HUMAN LUNG    ;". . .'."• LUNG HEMORRAGE & EDEMA
          BURDEN  	
          —0.016 n Ci      -  ~— RESPIRATORY INSUFFICIENCY
                           LUNG FIBROSIS

                           LYMPHOPENIA
                        LUNG CANCER
                        BONE CANCER
        i '  1
      A-ACUTE DEATH
      (DAYS TO WEEKS)
   B-SUBACUTE DEATH
   (WEEKS TO MONTHS)
C-CANCER (YEARS)
       I  0.0001 \ 0.01  0.1  1.0  10
    0.00001   0.001
                    INHALED DOSE (//Ci/GRAM LUNG)
                        Figure 24

-------
536
    Thank you.




    Dr.  Mills:  The next  speaker is Dr. Burr.

-------
                                   - 231  -
                                                                           537
                  Biomedical Effects of Plutonium on Humans
                       by William W.  Burr,  Jr.,  M.D.
                  Deputy Director,  Division of Biomedical
                         and Environmental  Research
                       U. S. Atomic Energy  Commission
                           Washington,  D. C. 20545
                     part of the AEC presentation at
                     EPA Plutonium Standards Hearings
                  Washington, D.C., December 10-11,  1974
     Although considerable data exists concerning the biological  effects

of plutonium on experimental animals,  comparatively little information is

available regarding the effects of plutonium and other actinide  elements

on man.  However, despite its limited  availability, we regard the human

data as highly relevant.

     The human data serves at least two purposes.  First,  it provides  a

check on the metabolic behavior of the actinide elements  in man  as compared

to experimental animals.  Secondly, the human observations will,  in the

course of time, provide an improved basis for the guidelines and  standards

under which the industry operates.  The available data make us confident

that present exposure standards are not grossly inadequate and that the

experimental animal work can be accepted as relevant to the human situation.

However, the human data are far too limited at this time  to permit more

specific conclusions to be drawn from  them with respect to exposure limits.

     Those individuals who have been exposed to and/or retained plutonium

for the longest periods of time are of particular interest.  There are

three such groups.  The first of these consists of those  persons  who have

-------
538                                 - 232 -




  been occupationally exposed to plutonium at some time during their working




  life.  While some of these exposures occurred 30 years ago,  others have




  occurred more recently; it will be some time before these more recent




  exposures will contribute to our store of knowledge in a meaningful way.




  Industrial accidents during the Manhattan Project resulted in inhalation




  exposures of a number of individuals to plutonium.  Some of these persons




  have maintained multiples of the maximum permissible body burden for nearly




  three decades.




       In addition to the depositions that date from the mid-forties, we know




  of over 200 industrial exposures between 1953 and 1970 that resulted in




  burdens of plutonium exceeding 2570 of the maximum permissible body burden.




  Other exposures have occurred before and since the period covered by these




  statistics.  Although the exact levels of internal contamination are uncertain




  in most such cases, it is evident that these exposures constitute a valuable




  resource for current and future study.  Some information has been obtained




  already from particular groups of industrially exposed persons; other




  studies are now being formulated and expanded to collect data from additional




  members of that population.




       A second source of valuable information is a group of 18 people, thought




  to be hopelessly ill, who were injected with plutonium during and immediately




  after the days of the Manhattan Project to study excretion and distribution




  patterns in man.  Data from these persons provided the basis  for  the




  excretion equations developed by Dr. Wright Langham that have been used




  in modified form to estimate plutonium body burdens in workers ever since then.

-------
                                      "  233  "                                   539



     A third population of interest is that of the world at large.   The




general population has accumulated minute quantities of plutonium from




the fallout debris that resulted from nuclear testing in the atmosphere




and from the atmospheric burn-up of a thermoelectric generator.   Study




of this population will give insight into the extent to which man takes up




plutonium from the biosphere.




     Programs for the analysis of human tissues obtained at autopsy from




exposed workers and from non-occupationally exposed persons will in time




furnish much information regarding the efficiency with which man incorporates




plutonium into his body and will provide data regarding the distribution




of plutonium among the various body tissues.  In the case of occupational




exposures these studies permit us to compare estimates of body burdens




based on analysis of urine specimens or external lung counting with




estimates based on actual analysis of tissues obtained from the same




individuals.  These programs have been expanded in recent years.




     In view of the fact that thousands of persons have been exposed or




potentially exposed to plutonium during the course of their work, it is




inevitable that some of those people who may have some lung or body burden




of plutonium will die of cancer, including lung cancer.  When this occurs




it must be recognized that the appearance of common forms of cancer in




persons with plutonium burdens does not constitute proof that the deposition




is causally related to the disease.  In order to establish whether or not




the number of such deaths exceeds our expectation for a comparable unexposed




population, our scientific resources will be taxed to the utmost.  We are




now entering a period when the working population that was young during




the 1940's may be expected to develop a meaningful incidence of disease of




all kinds.  Follow-up studies attempting to establish whether any detectable

-------
540
increase in relevant disease may be seen in the exposed populations will




become increasingly important.




     Although the clinical follow-up of persons with burdens has been




reassuring, any conclusions with respect to late effects of plutonium




in man must remain tentative for some time.  We can, however, state with




confidence that available data does not support the viewpoint that the




current radiation protection standards and guidelines which have been




followed for many years underestimate by many orders of magnitude the risk




due to plutonium deposition in man.




     Dr. Richmond, Associate Director for Biomedical and Environmental




Sciences at the Oak Ridge National Laboratory, will summarize the data




obtained from the various populations that I have mentioned.

-------
                                    -  235  -
                                                                             541
                   Biomedical Effects of Plutonium on Humans
                               by C. R. Richmond
                         Oak Ridge National Laboratory
                             Oak Ridge, TN  37830
                        part of the AEC presentation at
                       EPA Plutonium Standards Hearings
                    Washington, D.C., December 10-11, 1974
                                 INTRODUCTION

     My name is Chester R. Richmond.  I am the Associate Director for

Biomedical and Environmental Sciences at the Oak Ridge National Laboratory.

However, the views I express here are my own.

     Plutonium was recognized as a potentially hazardous material soon

after its discovery in early 1941.  The urgency to conduct biological studies

with plutonium was appreciated by several people, notably Dr.  Seaborg, with

the hope that the unfortunate problems experienced with radium earlier in

the century would not be repeated.  Within three years of the  discovery

of plutonium (   Pu) in February, 1941, 0.5 g    Pu had been separated from

the material produced by the Clinton pile and on 8 February 1944, Dr. J.  G.

Hamilton and coworkers at Berkeley received about 10 mg to begin experimental

studies in rodents.

     During late 1943 and early 1944, plutonium operations at  Los Alamos

consisted of research activities involving milligram quantities of material.

During late 1944, gram quantities were processed in research activities

directed mainly toward the production of pure plutonium metal  and investiga-

tion of its physical and chemical properties.  By mid-1945, kilogram

quantities were processed as part of the effort to produce the nuclear com-

ponents for the Alamagordo and Nagasaki weapons.  Some of our  most

-------
542
- 236 -
 relevant data as regards exposure of humans to plutonium comes from the


 medical follow-up of the military personnel who worked with plutonium


 at Los Alamos in 1944 and 1945.


      Although we have accumulated a considerable amount of information on


 the biological effects of plutonium on experimental animals, there is little


 to be said  of the data on effects in humans.  Obviously, we should be


 encouraged  because of the lack of data on biological effects of plutonium


 in man.


         DEVELOPMENT OF MAXIMUM PERMISSIBLE BODY BURDEN (MPBB) FOR Pu


      Throughout 1943 and the first nine months of 1944, a maximum permissible


 body burden of 4-5 p,g was assumed to be an acceptable guide even though no


 reliable method of estimating personnel exposure to plutonium had been


 developed.   The value was derived by using bone as the critical organ and

                                                                     o 9 /:
 making a direct comparison with the energy deposited from 0.1 p,g of    Ra


 fixed in the body (assuming 50% radon exhalation).  Later, because of


 apparent differences in bone deposition patterns between Pu and Ra in


 rodents, a  safety factor of about 5 was introduced, and the maximum permissible


 body burden became 1 p,g.  This value was used until the Tripartite Permissible


 Dose Conference at Chalk River, Canada, in late September 1949, at which time


 Dr. A. Brues presented experimental chronic toxicity data from rodents that

           239                                   226
 suggested    Pu was 15 times more damaging than    Ra when both were injected


 in equivalent microcurie quantities.  The conference recommended that the


 MPBB be reduced to 0.1 |j,g.


      Subsequent reexaminations of the experimental data led to a recommendation

                           239
 of 0.6 p,g as the MPBB for    Pu.  This decision was based upon the following

                                                              239
 observations related to the assumption that 0.1 |j,Ci of fixed    Pu was

-------
                                     -237-                                   543



equivalent to 0.1 p,Ci of fixed """Ra.


     (1)  The Pu:Ra toxicity ratio of 15:1 was based on the injection of


known amounts into rodents.  Since~75% of the injected Pu was retained in


rodents while only -^25% of the Ra was retained, the ratio on the basis of


retained dose could be lowered by a factor of about 3.


     (2)  Because radon was about 50% retained in man and only about 15-20%


retained in rodents, the toxicity ratio could be lowered by another factor


of at least 2 on the basis of relative energy deposited.


     Thus, strictly on the basis of biological data, the MPBB for man was


calculated to be:
     (MPBB)pu = 0.1 x        x ^ x | x Y = 0.6 |ig (0.04



     As a result of this information, the AEC authorized 0.5 ug (0.033

OOQ
 J Pu as the MPBB.  In 1951, the International Commission on Radiological


Protection (ICRP) at a meeting in London recommended a value of 0.04 M-Ci


which was later endorsed at the Tripartite Conference on Permissible Dose


at Harriman, New York in March 1953.  In the fall of 1953, both the National


Committee on Radiation Protection and Measurements (now the National Council)

                                                739
and the ICRP recommended a MPBB of 0.04 p,Ci for    Pu in their official


publications; the value has remained unchanged to date although the MPBB


has been discussed in more recent publications of both organizations.



                         MANHATTAN PROJECT EXPOSURES


     Since the discovery of plutonium over three decades ago,    personnel


exposures have been studied and reported on in varying degree, both during

                     (2-9)
life and after death.       One of the most interesting groups, because of

-------
544
- 238 -
  both the length of  the  period  since  exposure and  the  levels of exposure, is




  that of the Manhattan Project  plutonium workers.




       Twenty-five male subjects, who  worked with plutonium during World War II




  under very crude working  conditions  by  today's standards, have been followed




  medically during the  intervening  periodo  Within  the  past several years, 21




  of these men have been  examined at the  Los Alamos  Scientific Laboratory.




  In addition to physical examinations and  laboratory  studies (complete blood




  count, blood chemistry  profiles and  urinalysis),  roentgenograms were taken




  of the chest, pelvis, knees  and teeth.  Chromosomes  of  lymphocytes cultured




  from peripheral blood and pulmonary  cytology were  also  studied.  Urine




  specimens assayed for plutonium yielded calculated body burdens which




  ranged from 0.005 to  0.42 ^Ci.  These estimates of body burden are generally




  higher than earlier estimates  based  on  radioassay  of  urine samples collected




  in the past, perhaps  reflecting uncertainties in  the  models used to estimate




  body burden from excretion data.  Table 1 indicates  the kinds of information




  obtained from the Manhattan  Project  plutonium workers.  Most, but not all,




  of these examinations have been conducted every four  to five years since




  the group has been  studied.




       This group of  men  in their early to  mid-fifties  had only the usual




  diseases encountered  in this age  zone.  One man had  a coronary occlusion




  but had recovered and was well compensated.  Another  of the original




  group died in 1959  of a coronary  occlusion at age 38.  Another had a




  hamartoma of the lung surgically  removed  without  complication in 1971.  A




  third had a melanoma  of the  chest wall  (regional  lymph  nodes were negative).

-------
                                     - 239 -



                                                                             545


A fourth had a partial gastrectomy for bleeding ulcer.  Several had




mild hypertension and moderate obesity, and one had gout.  All were




working actively.  More detailed information on this particular group of




workers has been published.




     Blood samples were obtained from the group during the most recent




medical checkups for chromosome studies using standardized established




techniques.  No abnormalities were found in these subjects.  Except for one



                                              (13)
special case reported by Schofield and Dolphin     chromosome aberration




studies carried out on plutonium workers in the United Kingdom showed no



                                         (14)
significant increase in aberration yield.




     Because lung cancer has been observed experimentally in animals exposed




to plutonium aerosols, cytological examinations of bronchial cells in sputum




samples have been added to these studies.  In a few subjects, moderate to




severe dysplastic changes have been observed.  The significance of these




changes is not clear except in one man who was a heavy cigarette smoker




(3 packages per day).




     It is important to realize that these men worked under very crude




working conditions as judged by today's standards.  At times, the activity




to which some of these personnel were exposed was orders of magnitude




over the presently accepted maximum permissible air concentrations.  Most




of the exposures were believed to have occurred via inhalation as evidenced




by a strong correlation with frequent contamination of the nasal vestibule




and highly contaminating operations.  The nasal swabs on one occasion yielded




over 1 p,g Pu from each nostril.  Figure 1 shows the building in which




these men worked in the early years.

-------
546                                  -  24°  -


      Attempts have been made to estimate the number of particles  inhaled


 by the Manhattan Project plutonium workers.   By making certain assumptions


 with respect to the mass median diameter, geometric standard deviation of


 the distribution and the particle density, one can calculate the  mass


 fraction for plutonium dioxide particles larger than any stated size.   For


 example, the mass fraction for plutonium particles larger than 0.6 micron


 diameter is approximately 157o.  Further calculations indicate that approxi-


 mately 10  particles larger than 0.6 micron diameter could have been retained


 by the 25 subjects during their exposures in 1944 and 1945.      The observed


 lung cancer incidence is zero almost 30 years since exposure.


      Table II shows the current status of several LASL plutonium study


 groups.  Group 1 was discussed in the preceding paragraphs.  Group 2,


 which is now in the early stages of study, will expand the size of the


 original cohort by perhaps 40 people.  Twenty-eight of the 40 men who


 have been identified have been located and have responded to question-


 naires.  Once again, these are extremely important subjects to study


 intensively as approximately three decades have elapsed since their


 exposures.  Group 3 will comprise a broader spectrum of exposures, including

                                             OO Q
 more recent accidents and some exposures to    Pu.  All are estimated to have


 systemic plutonium burdens of 4 or more nanocuries.  Table III shows the

-------
                                      -241-



 estimates  of  plutoniura systemic  body  burdens  on certain workers  in Group  1,



 all  of whom had  estimated  burdens  greater  than 120  nCi  (3  maximum permissible



 body burdens)  in 1972.   The  table  also  contains the 1953 and  1962 estimates



 for  these  individuals.   The  increase  in the values  for each individual with



 time is  at least partly attributed to modifications in  the method of  esti-



 mation that have generally resulted in  higher estimates in more  recent years.



 The  model  for estimation of  body burdens from urine assay  values involves



 uncertainties that  limit the accuracy of estimation.       It  is  also  true



 that some  of  the body burden estimates  are based  on relatively  few data



 points.  Again,  the original exposures  were in the  early 1940's  so that



 Case 3,  who now  has approximately  10  times the allowable occupational bone



 burden,  has carried this estimated 410  nCi of plutonium for approcimately



 three decades.   The selected cases shown in Table III represent  systemic



 plutonium  burdens ranging  from 0.13 to  0.42 |j,Ci,  which correspond to  annual



 bone doses of approximately  2 to 6 rad.



      Table IV contains  information which is detailed in an earlier pub-


          (10)                       239 240
 lication.      The  data are  for  the    '   Pu content for  some  tissues that



 were removed  from Case  2 of  Group  1,  who developed  a non-malignant growth



 (hamartoma) in the  lung.  Surgical removal of the hamartoma,  which was



 found during  a medical  follow-up study, afforded  an opportunity  to obtain



 tissue from the  hamartoma, lymph nodes, rib and normal  lung for  radiochemical


                                 239 240
 analysis.   The concentration of     '    Pu  was approximately the  same  in both



.the  tumor  and normal lung  tissue.   The  lowest plutonium concentration was



 found in a rib sample and  the highest in the  lymph  node.   This distribution



 is consistent with  experimental  findings in dogs  exposed to plutonium dioxide



 by inhalation.   If  one  assumes a total  lung weight  of 1000 grams, tracheo-

-------
548                                 -242 -



 bronchial  lymph  node weight of 20 grams and a homogeneous distribution of



 plutonium  throughout these tissues,  the total plutonium burden is estimated



 to  be  8  nCi,  roughly equally divided between the lung and lymph nodes.  This



 estimate of  the  burden of plutonium  in the thorax based on extrapolation



 from the analysis  of lung and lymph node tissue is in reasonable agreement



 (within  a  factor of 2) with the estimate based on chest counting procedures.



     Figure  2 is a photomicrograph of an autoradiograph of a plutonium



 particle in  a lymph node section removed from Case 2.  Additional observations



 on  histologic sections of lymph node tissue suggested a non-uniform radiation



 dose distribution  from the plutonium particles.




             PLUTONIUM ADMINISTRATION STUDIES IN HUMAN SUBJECTS



     In  an attempt to determine relationships between urinary excretion,



 total  excretion  and body content of plutonium, 18 persons received plutonium



 parenterally during 1945-1947        as shown in Table V.  Fifteen of the


                                                                239
 18  were  older than age 45, and all but two of the 18 were given    Pu only


                   238       239                             238
 (one received both   Pu and    Pu and another received only    Pu).  The



 amounts  of plutonium administered ranged from about 0.1 to about 6 u.Ci.



 For comparison,  the current occupational maximum permissible body burden


     939
 for   Pu  is  0.04  g,Ci.



     Although these subjects were thought to be hopelessly ill, four of



 the group  were alive in November 1973, almost three decades after receiving



 the plutonium.  Excretion data for some of the survivors have been reported


          (19)
 recently.      These data provide a  unique opportunity to verify the



 excretion  equations that are used currently by radiation protection personnel



 to  estimate  body burdens.  It is of  considerable interest that much of the



 data used  to establish  the excretion equations was obtained from this group

-------
                                     -243-                                     549




of 18 subjects during the relatively short period (several months in most



cases) during which they were studied.   In addition to the data obtained



from those individuals, Langham used data obtained from several Los Alamos



occupational exposure cases for about 300 days and one for about 1700 days



in formulating his excretion curves.  These equations have been very useful



although they have proven to be somewhat conservative when estimated body



burdens based on urine assay are checked against estimates based on post-



mortem analyses.



     One of the original 18 plutonium recipients is of particular interest.



He was a white 58 year old male who was believed to have a gastric carcinoma


                                             238                   239
with hemorrhage when he received 5.19 (j,Ci of    Pu and 0.12 |j,Ci of    Pu as



PuO~(NO,.)- by intravenous injection.  Gastrectomy disclosed a gastric ulcer



from which the patient recovered.  He did not die until some 21 years later;



the cause of death was cardiovascular disease.  We can obtain a very rough



estimate of the bone dose by assuming 40% deposition in the skeletal tissues



with no subsequent loss.  Under these circumstances, the skeletal dose over



the 21-year period would be approximately 900 rad.  The annual dose rate



to the skeletal tissues would be approximately 40 rad, a factor of



approximately 70 higher than the annual skeletal dose rate of 0.6 rad


                                                               239
delivered by the maximum occupational bone burden of 40 nCi of    Pu.



     Some information can be obtained on the amount of plutonium in the



gonads of some of these subjects.  The fraction of administered plutonium


                                         -5                                -4
found in the gonads at autopsy was 9 x 10   for one female and about 3 x 10



for three male subjects.  These numbers agree quite well with data obtained



from several species of experimental animals.

-------
  550                              - 244 -



                         U.S.  TRANSURANIUM REGISTRY




     During the summer of 1968, the United States  Atomic  Energy Commission



authorized the establishment of the National Plutonium Registry which was



later renamed the United States Transuranium Registry (USTR).   The  registry



is operated by the Hanford Environmental  Health Foundation in  Richland,



Washington, and collects information from AEC contractors and  licensees


                                                                 (21-23)
regarding employees potentially exposed to transuranium elements.



Cooperation with the USTR is completely voluntary  on an individual  basis



and includes release of medical and health physics data.   Permission is



also obtained on a voluntary basis for postmortem analyses of  tissues of



interest.  Major AEC contractors and certain licensees handling plutonium



and other transuranium elements have agreed to endorse the program  and



have recommended to their employees that  they participate in this program.



     The principal criterion used by the  USTR to determine inclusion of  an



individual in the Registry is that the employer provide a routine  surveillance



program because of a reasonable likelihood that an exposure could occur.   This



rather broad criterion allows for the different methods used to estimate  the



extent of contamination, e.g.,  urine analysis, chest counting, or air



concentration  data, and for uncertainties in estimating  burdens under



certain conditions, e.g., chronic inhalation of insoluble plutonium.  It



also avoids the exclusive consideration of cases involving heavy exposures.



     At autopsy, comparisons can be made  between estimates of the body burden



based upon tissue analyses and estimates  made previously  on the basis of



health physics and operational data.  In addition to a medical history,



information may be obtained on an employee's work history, smoking  habits,



exposure to toxic materials, and other pertinent data.

-------
                                                                               551


     Preliminary findings for the first fourteen autopsy cases  reported



by the USTR appeared in the proceedings of the 12th Hanford Biology


                       (24)
Symposium held in 1972.v     To date, information obtained by the USTR



indicates that estimates of the plutonium systemic burden based on urine



analysis have been on the conservative side, that is,  they are  higher than


                                                           (24)
estimates based on analysis of tissues obtained at autopsy.      Workers in



the United Kingdom have also found this to be true.



     Table VI indicates the status of the USTR as of June 1974.  To date,



most of the USTR activities have been confined to Hanford, Los  Alamos,  and



Rocky Flats.  The interested reader is directed to a recent USTR report for



details of the level of cooperation between the USTR and the other AEG


                              (25)
contractors shown in Table VI.




                               ACCIDENT CASES



     A considerable amount of information has been obtained from accidental



occupational exposures to plutonium.  However, the total number of accident



cases has been relatively small.  Information obtained from the AEC's Division



of Operational Safety as shown in Table VII indicates  that during the period



1957 to 1970 about 200 contractor personnel had depositions greater than



25% of the occupational maximum permissible body burden (MPBB)  or lung



burden for plutonium.  These data also indicate that inhalation is the major



portal of entry and that more than half the exposure cases represent plutonium



burdens less than 50% of the maximum permissible burden.  Eighteen percent



of the total exposures resulted in plutonium burdens greater than one MPBB.



Table VII also shows that about 18% of the cases were  treated by chelation



therapy.  Fifty-four percent resulted from production activities.

-------
552
- 246 -
     Operational  experience at Windscale in the United Kingdom shows that


 15  men have  exceeded  the maximum permissible body burden of 40 nCi during


 a time covering about  7000 man-years of plutonium production and handling.


 It  is also possible that about half these men have considerably less plutonium


 in  their  bodies than  the calculations based upon urine radiochemistry currently

          (13)
 indicate.      Because of the importance of human data it is important that


 studies of personnel  involved in accidents be continued and perhaps expanded.


     A case  of contamination resulting from a puncture wound is extremely


 interesting  as it has  been interpreted by some as an example of cancer in


 man resulting from plutonium deposition.  The lesion was first described in

                                       / f\ r \
 the literature more than ten years ago     and was included along with other

                                                (4)
 information  on plutonium wounds at a later time.     The 5 nCi particle of


 plutonium was surgically excised from  the individual's palm approximately


 four years after  the  accident.  The radiation dose around the plutonium


 implanted in the  palmar skin was estimated to be about 75 million rads.


 However,  this kind of  dose estimate is probably meaningless as we do not


 know which cells  were  exposed or for what time periods.  The entire lesion

                                            -5  3
 was very  small (estimated to be about  3 x 10  cm ).  Figure 3 shows a


 histologic section of  the lesion.  The pathologist involved in the study


 described the cellular pattern in the  lesion as having "a similarity to

                                                ( 9 f\ \
 known precancerous epidermal cytologic changes."      This particular lesion


 appears to be the most severe demonstrable effect having a direct relationship


 to  plutonium deposition in man.




                           TISSUE ANALYSIS PROGRAMS

                                                        (27)
     For  many years the Los Alamos Scientific Laboratory     and other AEG

                       / n c> o 1 \
 contractor laboratories        have conducted tissue analysis programs to

-------
                                     - 247 -                                   553




determine plutonium levels in tissues obtained at autopsy from both exposed



occupational personnel and members of the general population who are not



engaged in work with plutonium.  These programs were started in the 1940's



in the Hanford plant and at the Los Alamos Scientific Laboratory.  A report


                                                                     / OR1)
from one program contains information on approximately 350 autopsies.


                                                                f Q 0 *5 / \

Additional reports from this and the other groups are available.



Table VIII shows plutonium concentrations as determined for lung, liver,



lymph nodes, kidney, and bone for the period 1959-1971 for non-occupationally



exposed persons from several parts of the United States and for occupationally



exposed persons.      Data for plutonium concentrations in gonadal tissue,



which appeared in the original publication, are not included in Table VIII



because errors associated with a change in analytical procedures were detected



by the authors subsequent to the original publication.  Similar data shown



in Table IX have been obtained for non-occupationally exposed persons and


                                                    (35)
represent analyses made during the period 1972-1973.      The average con-



centration in the lungs for the data shown in Table IX is about 0.3 pCi for



a 1000 gram lung, and the lymph node concentration is about 11 pCi/g.  No



unusually high concentrations of plutonium in gonadal tissue have been



observed in this particular study.  Recent analysis of the gonadal data



suggest that the concentrations of plutonium are about 0.18 pCi/kg for



non-occupationally exposed persons.



     The higher plutonium concentrations in lymph node tissue of non-



occupationally exposed individuals in Table IX as compared with those in



Table VIII are not thought to represent real increases but rather to reflect



an improvement in the technique for dissecting the lymph nodes from the lungs.

-------
   554                             -




     The AEC's Health and Safety Laboratory (HASL)  recently has  used



information obtained from the International Commission on Radiological



Protection to model the intake and body burden resulting from plutonium

                                                                      / n /; \

in fallout and to estimate the radiation dose to man from this source.



The cumulative lung and bone doses for the period 1954-2000 are  estimated



to be 16 and 34 mrem respectively.  The HASL group has also compared body



burdens based on their model with values obtained from the tissue sampling



programs.  The agreement is quite good between the Colorado-New Mexico tissue



data and the model predictions as shown in Table X  for 1970-1971.   The



comparison based on the New York tissue sampling data is not as  good and may



reflect the small sample of 25 autopsies that were included in the analysis.



     Results of the tissue sampling programs for occupationally exposed



plutonium workers has also given us the opportunity to compare the body burden



at autopsy with that estimated during life on the basis of bioassay data.


                                            (25 29 35)                   (13)
Almost without exception, workers in the USA   '  '    and United Kingdom



have found less plutonium by significant factors at autopsy as compared with



the amount predicted during life.  For example, the United Kingdom workers



found that for 9 plutonium workers studied at autopsy, the body burden



estimates based upon tissue analysis were lower by factors of 1.2 to 8.3 than



those estimates made during life on the basis of urinary excretion analyses.



Thus it would appear that estimates of the body burden made during life are



conservative in that they predict more plutonium than is actually present in



the body.  Because a considerable amount of relevant data is now available,



it may be appropriate for scientists in the field of radiation protection to



explore this observation in more detail as regards current radiation protection



practices and the guidelines followed in the nuclear energy industry.

-------
                                     - 249 -





     Recently several investigators have examined the United Kingdom medical



experience for workers handling plutonium.  They have concluded that the



information to date cannot conclusively validate or repudiate the presently



accepted working levels for plutonium, but the information does allow for



a certain amount of cautious optimism.  They also state, "it is true to say



that after 30 years' experience in the USA and 22 years' in this country,



no disease attributable to plutonium toxicity has been diagnosed in any



worker concerned in the production or manipulation of plutonium."




                        PLUTONIUM IN MAN FROM FALLOUT



     Plutonium is present in extremely small quantities in various organs of



man today.  Although most of the plutonium in fallout resulted from atmospheric



testing of nuclear weapons by several countries prior to the 1963 limited test



treaty ban, some material from contemporary atmospheric weapons testing by



France and the People's Republic of China adds to the total human burden.



The current lung burden as estimated for persons in the United States is


                 239 240
about 0.3 pCi of    '   Pu, and a very rough estimate of the total amount



in the body is perhaps 3.5 pCi as shown in Table XI.   Estimates of the total



amount of plutonium produced in the course of nuclear weapons testing vary,



but a value of about 0.4 megacurie is a reasonable estimate.  Of this amount,


                                                                     -8
if 0.3 megacurie has returned to the biosphere, very little (about 10  ) has

                                                 g

found its way into the earth's population (3 x 10  people).  Another approach


                                                                        -12
to this matter is to divide the estimated average human burden (3.5 x 10



curies) by the estimated amount in the biosphere (0.3 x 10  curie); the



average accumulation is about 10    per person.
                                                                               555

-------
 556                               _ 250 .


                                 CONCLUSION

                                      239
     Control of industrial hazards  of    Pu processing  is  based  upon  the

premise that personnel exposure should be as low as  practicable  not because

the maximum permissible body burden is a  level  which would do  harm but

because it is sound industrial medical and health protection practice.

     The lack of demonstrable biological  effects of  plutonium  in man  is

reassuring and represents presumptive evidence  that  the standards are not

grossly inadequate.  My personal opinion  is that those  standards are  adequate

and that there is no compelling reason at this  time  to  initiate  changes,  either

upward or downward.



     I would like to now quote a portion  of the Rulison decision as given

by Judge Arraj as I believe it is appropriate.

     "The field of radiation protection is constantly changing with  the
     appearance of new scientific knowledge on  the biological  effects of
     ionizing radiation.  Careful decisions must be  made in the  context  of
     contemporaneous knowledge.  Such decisions cannot  be  indefinitely post-
     poned if the potentials of atomic energy are to be fully  realized.   All
     that is required to establish reasonableness of the decision setting
     a standard under the statutory directive to protect the public health
     and safety is that it be made carefully in light of the best available
     scientific knowledge.  Absolute certainty  is neither  required nor possible."

-------
                                                                          557
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2.  H. F. Anderson, W. E. Sheehan,  J.  R.  Mann and R. W. Bistline, Evaluation

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6.  C. R. Lagerquist, S.  E. Hammond and D.  B.  Hylton, Distribution of

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       at autopsy.  In Diagnosis  and Treatment of Deposited Radionuclides.

-------
558                                - 252 -






        (H.  A.  Kornberg  and  W.  D.  Norwood,  Eds.),  PP• 460-468.   Excerpta




        Medica  Foundation, N.Y., N.Y.  (1968).




 9.   H.  Foreman,  W.  Moss and W. Langham,  Plutonium accumulation  from long-




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10.   L.  H.  Hempelmann, W. H. Langham,  C.  R. Richmond, and  G.  L.  Voelz,




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        study of  selected cases, Health Physics 25. 461-479  (1973).




11.   L.  H.  Hempelmann, C. R. Richmond,  and G. L. Voelz,  A  twenty-seven  year




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        Laboratory report LA-5148-MS,  31  pp.  (1973b) .




12.   L.  H.  Hempelmann, W. H. Langham,  G.  L. Voelz, and  C.  R.  Richmond,




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        ton, D. C.  1974 pp. (Sept.  9-14, 1973).




13.   G.  B.  Schofield and G.  W.  Dolphin, U.  K. experience on  the medical




        aspects of radiological protection of workers handling  plutonium,




        Annals of Occupational  Hygiene (In press).




14.   G.  W.  Dolphin, D. C. Lloyd and R. J. Purrott, Chromosome aberration




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15.   W.  J.  Bair,  C. R.  Richmond and B. W. Wachholz, A radiological assessment




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16.   James N. P.  Lawrence, "PUQFUA:  An IBM-704 code for computing plutonium




        body burdens, Health Physics 8, 61-66 (1962).   See also, Los Alamos




        Scientific Laboratory Report LA-2329 (April 1960).

-------
                                    - 253 -
                                                                              559
• 17.  W. H. Langham, S. H. Bassett, P. S. Harris, and R. E. Carter,
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         (Sept. 1950).
 18.  P. W. Durbin, Plutonium in man:  A new look at the old data, (B. J.
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 19.  J. Rundo, P. M. Starzyk and J. Sedlet, The excretion rate of plutonium
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 24.  W. D. Norwood,  J.  A.  Norcross,  C.  E.  Newton,  Jr.,  D. B.  Hylton and
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         Symposium Series  29_,  pp. 465-474 (1973).

-------
   560
                                      -  254  -
25.  W. D. Norwood and C. E. Newton, Jr., United States Transuranium Registry




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26.  C. C. Lushbaugh and J. Langham, A dermal lesion from implanted plutonium,




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27.  E. E. Campbell, M. F.  Milligan, W.  D. Moss and H. F. Schulte,  History of




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        1944-1972, USAEC Document LA-5008, 7 pp., (1972).




28.  I. C. Nelson, K.  R. Heid, P. A. Fuqua,  and T. D.  Mahony, Plutonium in




        autopsy tissue samples, Health Physics 22, 925-930 (1972).




29.  C. R. Lagerquist, S. E. Hammond,  D.  L.  Bokowski and D.  B. Hylton,




        Distribution of plutonium and americium in occupationally exposed




        humans as found from autopsy samples, Health Physics 25, 581-584,




        (1973).




30.  C. R. Lagerquist, D. L. Bokowski, S. E. Hammond and D.  B. Hylton,




        Plutonium content of several internal organs following occupational




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31.  E. E. Campbell, B. C.  Eutsler, J. McClelland, and H. M. Ide, Plutonium




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32.  C. E. Newton, Jr., I.  C. Nelson,  K.  R.  Heird and H. V.  Larson, Trans-




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33.  C. E. Newton, Jr., K.  R. Heid, H. V. Larson and I. C. Nelson,  Tissue




        sampling for plutonium through an autopsy program, BNWL-SA-918 (Sept. 1966),

-------
                                                                              561
34.   E.  E.  Campbell, M.  F. Milligan,  W.  D.  Moss,  H.  F.  Schulte,  and J.  F.




        Mclnroy,  Plutonium in autopsy tissue,  Los Alamos Scientific Laboratory




        report LA-4875,  47 pp.,  (January 1973).




35.   Annual Report of the Biomedical  and Environmental  Research  Program of the




        LASL Health Division for 1973 to the USAEC,  Division of  Biomedical and




        Environmental Research,  Los Alamos  Scientific Laboratory Report LA-5633-




        PR, (C. R. Richmond and  E.  M. Sullivan,  Eds.),  (1974).




36.   E.G.  Bennett, Fallout ""PU dose to man,  T_n Fallout Program,  Quarterly




        Summary Report,  Health and Safety Laboratory report  HASL-278 (January  1,




        1974).

-------
562
                              - 256 -
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-------
- 257 -
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                                          - 258  -
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-------
576
     Thank you.




     Dr. Mills:  Our next speaker is Dr. Thompson.

-------
                                                                         577
            Implications with Respect to Protection Criteria
                            by R. C. Thompson
                 Battelle, Pacific Northwest Laboratory
                           Richland, WA  99352
                     part of the AEG presentation at
                    EPA Plutonium Standards Hearings
                 Washington, D.C., December 10-11, 1974
My name is Roy Thompson.  I am a staff scientist in the Biology Department

of Battelle Pacific Northwest Laboratory.

Introductory Description of Problem

     Those preceding me in this presentation have tried to summarize the

facts that define the problem--present and projected--of plutonium and

other transuranic elements in our environment.   It is my task to suggest

to you how these facts might be utilized in arriving at appropriate

standards for control of these transuranic elements, for the protection

of the general populace.  This is a presumptuous undertaking, considering

the collective wisdom represented on the Hearing Board.  I do not expect

to tell these gentlemen something they do not already know about the

philosophy or practice of radiation protection.

     I've therefore chosen the opposite approach.  If I cannot propose

a new concept to solve our problem, I will try,  instead, to review the

problem, in its most basic aspects and hope that from this "return to

fundamentals" we may achieve some clarification  of what it is we need

to do.  If you feel at times that your intelligence is insulted by my

-------
578                                - 272 -






 simplistic approach, I can only ask that you bear with me--I won't




 take very long.




      In the first figure, I present what seems to me the most basic




 formulation of our problem.  An exposure to some noxious substance results




 in an undesirable effect.  We wish to prevent or minimize this effect.




 So, from our knowledge of this exposure-effect relationship, we establish




 a standard, which in some manner acts to control the exposure at a level




 that does not produce an unacceptable effect.




      For the case of plutonium, we can elaborate this a bit, as shown in




 Figure 2.   Exposure is often translated into terms of a radiation dose




 that is thought of as producing the effect.  We know that exposure must




 occur via some kind of environmental pathway, and that the plutonium




 in the environment has its origin in some "source term."  It also seems




 obvious that the best place for the standard to be applied for control




 of exposure is at the level of the source term.




      Note that "dose" is enclosed in brackets, to indicate that it is




 really not an essential step in the process.  Dose, as employed in radiation




 protection, is a concept in the mind of the scientist, which may or may




 not be useful in relating exposure to effect.  Exposures, on the other




 hand, are real occurrences that happen to people.  Effects happen to




 people.  If a relationship between exposure and effect is known, a




 standard may be set to control that exposure and eliminate that effect--




 in total ignorance of the dose or any other knowledge of the mechanism

-------
                                     -  273  -
                                                                             579
by which the effect is thought to be produced.  I stress this point
because, as will be noted later, much of the confusion in this field is
due, in my opinion, to a misplaced emphasis on, and confidence in,  dose.
I might add that this problem does not trouble most other areas of
industrial toxicology where we are too ignorant of mechanisms to be
concerned with such sophistication.

Exposure
     I would like to consider the individual elements of our basic  problem--
first exposure.  I think it will help us to think in terms of three kinds,
or levels, of exposure.  First, there are the levels that we know can
produce effects in animals.  Roughly speaking, these are exposures  that
result in lifetime doses to bone or lung in excess of about 30 rad  (1).
Now, I'm speaking of dose, because it's a convenient way to lump a  lot
of exposure data; but, you know from Dr. Bair's presentation, that  I'm
lumping rats and mice and dogs and baboons--so you won't place too  much
confidence in my numbers.  I must also specify that I am talking about
average organ dose.  And I must remind you that in terms of dose
equivalent, as currently defined, we are talking about 300 rems to  lung
or 1500 rems to bone (2).  These exposures, we know, have resulted  in a
low, but significant incidence of malignant tumors in animals.
     Second, there are the exposure levels that have occurred in man.
Some occupational exposures approach, or perhaps even exceed, the minimum
levels that have produced effects in animals (3,4).  But most occupational
exposures are much lower, and the exposures from fallout plutonium, very

much lower (5).

-------
                                    - 274 -
 580
     Finally, there are the exposure levels  about  which we should  be
concerned if we are to protect the general populace from  plutonium
effects.  We don't know exactly what these levels  are--or we wouldn't
be here.  But, I think everyone would  agree  that these  levels must
certainly be much lower than those we  have considered acceptable for
occupational exposure.

Effect
     Now, let's try to relate these exposure categories to the  effects
side of our relationship.  For the exposure  levels studied in animals,
this is relatively easy--easy because  of 30  years, and  many millions of
dollars worth of research.  We know more about the effects of plutonium
in animals, I would guess, than about  any other industrial pollutant.
     For the human exposures, one is tempted to say that  we know nothing
about effects, but this is not strictly  true.   Effects  clearly  attributable
to plutonium have been observed at the cellular level--histological
changes (6), perhaps chromosome abberations  (7).   Of course we  knew
before we looked that each alpha disintegration would probably  kill
cells.  But we cannot, even qualitatively, relate  these kinds of effects
to health consequences.  So, effectively, we know  nothing about effects
in humans.
     But this absence of information is  itself informative. It sets  some
upper limit to our problem.  We don't  quite  know how to evaluate this
limit, because we don't know as much about our population of plutonium-

-------
                                                                             581




exposed humans as we should, and because we may yet see effects, although




it may be difficult to identify these effects as due to plutonium.




However, we can at least qualitatively contrast the problem with that of




exposures to radium, or exposures in uranium mines, where, within much




less than 25 years after these exposures commenced, lethal effects were




all too obviously evident.  This kind of experience we have thankfully




not had with plutonium.




     If we have no useful human data on plutonium effects, can we perhaps




utilize other radiation effects data that are available for humans?  We




can certainly make such an attempt — the UNSCEAR (8) and BEIR (9) committees,




among others, have done so--but we must be aware of the uncertainties




involved in such an approach.  In fact, we must be aware that whatever




route we take to the estimation of the health consequences of plutonium




in humans, we are necessarily involved in some uncertain extrapolations.




We must either extrapolate from observed plutonium effects in animals to




predicted effects in humans, or we must extrapolate from observed non-




plutonium radiation effects in humans to predicted plutonium effects in




humans.  Whichever of these routes we take, we must further extrapolate




from exposure levels where we have data, to the much lower exposure




levels that are of primary concern in the protection of large populations.






Extrapolations




     Let us look at some of the problems involved in these extrapolations.




The human radiation effects data,  as recently summarized in the BEIR




Report, derive largely from whole-body, external exposure to penetrating

-------
   582





radiation, at high dose rates and high dose levels (9).   We must




extrapolate to a condition of very non-uniform,  internal exposure of




a few organs to alpha radiation, at very much lower average dose  rates,




but perhaps very much higher local dose rates.   Such extrapolation can




only be made through the medium of simplifying assumptions regarding dose




and dose equivalent.  These assumptions are familiar to  you--I will mention




only a few of the more critical ones.   One must  assume a relative




biological effectiveness for alpha particles—a  number derived from




non-human studies (2).  One must correct for non-uniformity of distribution--




a correction presently based on animal data in the case  of bone,  and assumed




to be insignificant in the case of lung (2) [though this latter assumption is




challenged by some as grossly in error, on dosimetric grounds (10)] .




     For my money the extrapolation of the animal data is subject to




fewer uncertainties.  The whole quagmire of dose can be  sidestepped.




Animals can be exposed to the actual materials of concern, whether they




be "hot particles" or solutions, ingested, injected, or  inhaled,  chronically




or in a single exposure.  And, effects are directly observed. They are,  of




course, effects in a rat or a dog--not in man.   But bone and  lungs of




different animals are not that different, as can be demonstrated  by




comparative toxicity studies in several animal species.   Such differences




as are observed can often be explained in terms  of anatomical or  physiological




factors and corrections can be applied for the predicted influence of these




factors in man.

-------
                                    - 277 -
583
     But one needn't choose between these two approaches.   Both animal




and human data should be utilized as best one can,  and the encouraging fact




is that the two approaches lead to similar predictions.  Figure 3 shows




some of these predictions as prepared for inclusion in the LMFBR Environmental




Impact Statement.  These cancer risk predictions are stated in terms of




cancers produced per million person-rems.  The range of numbers estimated




from the BEIR Report data are not maximum and minimum estimates, but the




range of "best" estimates derived by different procedures--all involving




an assumed linear response to dose (9).  The numbers derived from animal




data also assume linearity of response, and are of varying quality (1).




Much better animal data should be available within a few years.




     The point of this comparison is not to establish a particular number,




but to indicate the kind of agreement that is seen.  As an indication of




the agreement seen in a related area, Figure 4 shows similar numbers




for radium, where we have direct data for humans to compare with




experimental animal data (11).  The animal data show a generally higher




incidence, but there is certainly "ballpark" agreement.  Recalling the




numbers on Figure 3, let me say that I would have considerable confidence




in that "ballpark" of plutonium numbers, if applied to individual "person"




exposures in the range of a few hundred to a few thousand rem.  Whether




any of these numbers have any significance when applied to exposures




in the range of a rem or less is far less certain,  and is  the major




extrapolation uncertainty that we face.

-------
  584




     Figure 5 attempts to graphically portray this  problem.   We are




plotting average organ dose equivalent,  to bone or  lung,  in  rem,  against




effect in unspecified units.  The heavy  line at doses  in  excess of 100 rem




represents the hard data from animal studies.  The  vertical  lines are




meant to indicate the considerable statistical uncertainty in that data.




Actually, the hard data-now stops at about 300 rem  for lung  and 1500 rem




for bone, but I think that experiments currently in progress may well




extend the range of observed significant effects to something approaching




this level of 100 rem.  Below 100 rem we have no data  on  plutonium toxicity




nor can we expect to obtain any.  We can, with confidence, assume zero




effect at zero dose; and the simplest interpolation over  the unknown




interval is a straight line between the  last data and  the zero-zero




point.  I won't try to review the theoretical arguments that have been




presented to justify such a linear interpolation, nor  will I present the




theoretical arguments for some kind of enhanced effectiveness at lower




dose levels, or the arguments for a threshold dose  below  which there will




be no effect.  Because they are based on unsupported theory, none of these




arguments are totally convincing, though some I must admit are more




convincing than others.




     What I do find convincing is this zero point.   And,  I feel quite




confident that the approach to this zero point is much more  likely to be




asymtotic to the dose axis than to the effect axis. I said  a moment ago




that we can expect to obtain no experimental data in this region below




a lifetime dose of about 100 rem, but we do have data  of  a sort in this

-------
                                    - 279 -






region that I have cross-hatched, below about 10 rem.  An experiment




in this dose region has been in progress for quite a few millions of




years, during which time the human race has received lifetime doses




averaging about 3 or 4 alpha rem per person to bone and lung, and




approaching 10 rem total lifetime radiation dose (18, 20).  The numbers




on the viewgraph represent 70-year cumulative background doses.  Though




we know something about the dose, we can't evaluate the effect side of




this experiment, except to say that we are the effect.  What we might




have become if not subjected to this radiation is a fascinating, but




academic question.  It is quite apparent, however, that we have not




evolved in a manner to spare us from this radiation.  We have not




developed external shielding nor have we rejected potassium as a




metabolically critical element, because of its  TC content.  These




facts argue strongly, I think, that any precipitous change in the dose-




effect relationship does not occur within the range of natural background.




If there is an enhanced effect of radiation at low dose levels as




represented by the upper range of curves on the viewgraph, this effect




certainly cannot continue to zero dose, and 1 think cannot reasonably




be thought to persist within the region of background dose.






Conclusions




     Now, may I express just a few general conclusions.  Most importantly,




I would say that "As Low As Practicable" is still a very good idea--




particularly for plutonium, in view of the uncertainties we've discussed;
585

-------
  586
- 280 -
and particularly for population exposure standards  where it  may be often




difficult to identify an individual benefit to balance an appreciable




risk.




     Exposure of total populations should be controlled at some fraction




of natural background levels, because it is only in this range of exposure




that I feel we have assurance of insignificant effect—an assurance




based upon the survival, over past eons, of the human race.




     Because the dispersal of plutonium amongst the general  populace will,




for many centuries at least, be quite non-uniform,  I think we cannot




accept limitations on person-reins as a totally adequate basis of control.




While it may be expedient, and even conservative,  to assume  dose-effect




linearity for the evaluation of risk to populations, we cannot use such




an assumption as an argument for permitting individual overexposure.  If




1000 person-rems are distributed evenly among 1000  persons,  the probability




of an eventual effect may be less than, equal to,  or greater than the




probability associated with the same 1000 person rems delivered to a single




individual--we cannot be sure.  And in no way should that uncertainty be




used to justify the high individual exposure.  We don't need to choose




between these alternatives.  We should protect the "critical individual"




as well as the total population, although not necessarily to the same




per-capita limits.




     It seems inevitable that control must be based on environmental




monitoring, since the appropriate "people-limits" will be certainly un-




measurable.  This places a burden of great significance on our knowledge of




food chain and inhalation pathways, which is required for translating

-------
                                                                          587




a people-limit to an environment-limit.  Of critical importance is the




assumption to be made with regard to an ultimate environmental sink for




plutonium.  Certainly, the longer-lived plutonium isotopes need not be




assumed to remain optimally available to man for the hundreds of thousands




of years before they undergo complete radioactive decay.




     It may be expedient to express exposure limits for the individual in




the population as some appropriate fraction of an occupational exposure




limit, because the derived occupational limits will incorporate considera-




tions of exposure pathways and the summation of dose commitments to




critical organs.  This "appropriate" fraction, however, cannot be an




arbitrary number applicable to all radionuclides under all circumstances.




It should be set primarily in relation to considerations  of natural back-




ground and "practicability."  Thus, the absolute value of occupational




exposure limits is of little relevance to population exposure--a different




set of criteria are involved on the benefit side of the risk-benefit




equation.




     Finally, I would just like to address, very briefly, a few specific,




critical questions that have been raised with regard to the adequacy of




plutonium toxicity information.  Enough has probably already been said about




the "hot particle" problem.  This is a theoretical argument, centering around




totally inadequate knowledge of the microdose-macroeffect relationship (10).




Fortunately, there ace experimental animal data and human  experience, not




dependent upon theoretical interpretation of dose, that denies the




existence of any major enhanced effectiveness of such particulate exposure




(13).

-------
     588                         -  282  -






     Concern has been expressed that  the potential for genetic effects  from




plutonium deposited in gonads may not be adequately evaluated.  Although




animal experiments to prove this point have not been done,  and would be




very difficult, there is evidence from both animal and human data that




plutonium is not concentrated in gonads,  and that the dose  from gonadal




plutonium is therefore small—much smaller, and therefore of less concern,




than the dose to lung, bone, or liver (14).  Some early analyses, which




seemed to indicate high levels of fallout plutonium in human gonads, have




been shown to be in error (14, 15).




     Lymph nodes draining the lung will probably receive the highest




radiation dose from inhaled plutonium but this dose has not been considered




in setting occupational exposure standards.  This seems justified in light




of the overwhelmingly greater incidence of cancer in bone and lung




of animals that have inhaled plutonium (1).




     One must be particularly concerned for the exposure of the very young




members of a population, since they are usually considered  to exhibit an




enhanced radiosensitivity.  The fact  that the radiation exposure from




each increment of internally deposited plutonium is spread  over the whole




subsequent lifetime of the exposed person,  provides an automatic safety




factor for the young child.  Assuming uniform continuous exposure, dose rate




will increase throughout the life span, and will be at its  lowest value in




the newborn.  While gastrointestinal  absorption of plutonium may be markedly




increased in the infant, this condition is probably limited to a very short




period following birth, a period during which the infant is relatively




protected against most forms of exposure (16).

-------
                                  -283-                                589


                               REFERENCES




1-  W. J. Bair, "Toxicology of Plutonium,"  in Advances in Radiation


    Biology, Vol.  4,  Academic  Press, New York, pp. 255-315, 1974.


2.  International  Commission on Radiological Protection, "Report


    of Committee II on Permissible Dose for Internal Radiation,"


    ICRP Publication 2, Pergamon Press, 1959.


3.  D. M. Ross, "A Statistical Summary of United States Atomic Energy


    Commission Contractors'  Internal Exposure Experience," in


    Diagnosis and  Treatment  of Deposited Radionuclides, Excerpta


    Medica Foundation, Amsterdam, pp. 427-434, 1968.


4.  L. H. Hemplemann, W.  H.  Langham, C. R. Richmond, and G. L. Voelz,


    "A Twenty-seven Year  Study of Selected Los Alamos Plutonium Workers,"


    Health Physics 24, pp,  461-479, 1973.


5.  B. G. Bennett, "Fallout  239Pu Dose to Man," Fallout Program


    Quarterly Summary Report,  HASL-278, 1974.


6.  C. C. Lushbaugh and J.  Langham, "A Dermal Lesion from Implanted


    Plutonium" Arch.  Dermatol. 8j>, pp. 461-464, 1962.


7.  W. F. Brandom, R. W.  Bistline, A. D. Bloom, and P. G. Archer,

                                                         OOQ
    "Somatic Cell  Chromosome Changes in Humans Exposed to    Plutonium,"


    Radiation Research 59,  p.  206, 1974.


8.  U. N. Scientific Committee on the Effects of Atomic Radiation,


    Ionizing Radiation; Levels and Effects, Vol. I and II, United


    Nations, NY, 1972.


9.  U. S. National Academy  of  Sciences - National Research Council, The


    Effects on Populations of  Exposure to Low Levels of Ionizing Radiation,"


    Report of the  Advisory Committee on the Biological Effects of Ionizing


    Radiations, Washington,  DC, 1972.

-------
   590                            - 284 -
10.  A. R.  Tamplin and T.  B.  Cochran,  "Radiation Standards for Hot




     Particles," Natural Resources Defense Council, Washington, DC,




     1974.




11.  C. W.  Mays and R.  D.  Lloyd,  "Bone Sarcoma Incidence vs. Alpha




     Particle Dose," in Radiobiology of Plutonium (B. J. Stover and




     W. S.  S. Jee, eds.) J. W. Press,  Salt Lake City, pp. 409-430, 1972.




12.  W. M.  Lowder, J.  H. Harley,  and J. E. McLaughlin, "Data Needs for




     the Assessment of Population Dose from Background Radiation,"




     Population Exposures  (J. C.  Hart, R. H. Ritchie, and B. S. Varnadore,




     eds.)  USAEC Doc.  CONF-741018, pp. 23-28 (1974).




13.  W. J.  Bair, C. R.  Richmond,  and B. W. Wachholz, "A Radiobiological




     Assessment of the Spatial Distribution and Radiation Dose from




     Inhaled Plutonium;1 WASH-1320, 1974.




14.  C. R.  Richmond and R. L. Thomas,  "Plutonium and Other Actinide




     Elements in Gonadal Tissue of Man and Animals," Health Physics.




     Manuscript Submitted, 1974.




15.  E. E.  Campbell, M. G. Milligan, W. D. Moss, H. F. Schulte, and




     J. F.  Mclnroy, "Plutonium in Autopsy Tissue," Los Alamos Scientific




     Lab. Doc. LA-4875, 1973.




16.  M. R.  Sikov and D. D. Mahlum, "Plutonium in the Developing Animals,"




     Health Physics 22, 707-712,  1972.

-------
          - 285 -
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     596

                   Standards for the Transuranic Elements


                            by J. Newell Stannard
                      University of Rochester School of
                           Medicine and Dentistry
                           Rochester, N. Y.  14642


                       part of the AEC presentation at
                      EPA Plutonium Standards Hearings
                   Washington, D.C., December 10-11, 1974


     The following remarks are in lieu of personal appearance for testimony

which I regret previous commitments precludes.  It is not heavily documented

or intended to be in any way a complete summary of the many important con-

siderations which have had or will have a significant bearing on both these

important standards and their implementation.  Reference will be made, however,

to especially pertinent documents and summaries where needed.

     While I take responsibility for this statement entirely as an individual

scientist, it cannot help but be influenced by my current interests and

activities for the National Council on Radiation Protection and Measurements

whose Scientific Committee-34 I happen to Chair, and by interaction among

its members and others in the field.  Committee-34 has as its charge the

recommendation to the Council of radionuclide concentration standards for

both occupational and population exposure in the United States.  It is

actively engaged in consideration of aspects of this urgent subject but has

not yet reached any conclusions on matters as detailed as standards for

the transuranics.

     My personal view is that some of the current recommendations regarding

exposure to transuranics, now many years old, will be changed by the responsible

-------
                                      - 292  -
                                                                            597

national and international bodies such as ICKP and NCKP and will,  quickly,

or even before, be modified somewhat in the Federal and probably the State

codes.  It is also my view that the modification will be in the direction of

a reduction in derived limits, perhaps also in the primary dose standards,

although the change in the latter might be relatively smaller.   Decisions

regarding the magnitude of any future reductions and to which nuclides they

might be applied is now the prime source of debate and delay.  Fortunately

the extant philosophy of operating on the "as low as practicable"  basis makes

such delays in decision-making of less importance than they might  otherwise

be.  However, none of the above remarks should be interpreted as implying

that we have reliable scientific evidence showing significant biological

damage in either workers or populations who have never been exposed above

the current standards.  But the future increases in numbers of  potential

exposees and in the quantities of transuranium nuclides potentially available

makes the current emphasis on reexamination of standards a very legitimate

enterprise even though the organizations concerned have and continue to

maintain constant vigilance over the validity of the basic recommendations.

Basis for Present Standards

     The biological basis for ICRP, NCRP and various governmental  standards

has been reviewed and scrutinized in depth by many, probably also  at these

hearings.  In addition to basic documents, I especially commend the excellent
historical review of maximum permissible body burdens and concentrations

                                        I of

                                         (2)
of plutonium by Langham and Healy   ,  and of concentration and  body burdens
of the transplutonic elements by Dolphin.

     Yet a few points need reiteration even here.   Firstly is the  fact  that

the body burden standard for plutonium is  based  on a  large volume  of  excellent

-------
     598
- 293 -
biological work first in rodents and then in the dog,  and to a lesser




extent primates.  In addition there is a respectable amount of information




on the behavior of plutonium in man which suggests no major differences in




its metabolism in the human as compared to the animal species used.




     It was the empirical ratio of the toxicity of plutonium relative to




radium found in animal experiments which led to a reversal of proposed early




standards based on energy considerations alone and to our present standards




with bone as critical organ.  But we have no storehouse of information on




effects of plutonium in man as we do for radium (both -226 and -224) .  Indeed




fortunately we have nothing but one or two isolated instances of effects




which may be attributable to plutonium exposure.  But it is frequently




forgotten that we do have a storehouse of metabolic information both  in man




and animals and of effects in animals upon which to base a standard  for




plutonium.




     Because of its similarities to radium the standard for plutonium in bone




was therefore based on the biological information alluded to above,  including




the experience with radium in man.  By contrast both body burden and  derived




standards for plutonium when organs other than bone are critical were derived




quite differently viz:  by calculation of that amount in the organ which




will yield no more than the maximum allowable dose or dose rate to that




organ.  This maximum allowable dose or dose rate was derived not from




experience with radium but largely from experience with external radiation




sources.  For most soft tissues in which the transuranics deposit (lung,




liver, kidney, GI tract, et cetera) this rate is 15 rem per year for occupational




exposure.  Since the calculated dose to bone using the radium experience is

-------
                                                                               599
at least double this quantity, a factor of at least two enters into the




prime standards between bone and other likely critical organs.  A difference




of this magnitude is well within the limits of our present knowledge.




     More recently the ICRP has essentially abandoned the system of direct




comparison to radium and substituted calculation of the dose to endosteal




cells as the basic procedure for bone.  Since this would allow a dose  rate




of only 15 rem per year for occupational exposure situations, the prime




standard might be expected to be reduced by a factor of at least two by




this change.  But, as of the present writing, the complexities of calculating




dose to endosteal cells from alpha emitters have made the ICRP decide  to keep




the old approach for alpha-emitting bone seekers.




     The transplutonic elements such as Am, Cm, Cf , Es, Fm, et cetera,  seemed




by and large to behave enough like plutonium to be handled in much the same




way, i.e., bone as critical organ and the comparison to radium retained.  Or




so it would seem from the official ICRP and NCRP publications on internal




emitters.  But Dolphin makes no mention of direct comparison to radium in


                                                                          (2)
deriving body burden figures for the trans-plutonics in his recent survey.




Instead he cites the basic dose standards of 5, 15, and 30 rem/year, the




latter presumably applying to bone and calculates therefrom.  The NCRP in


                                                   (3)
its most recent report on basic radiation standards    does not make specific



mention of any dose rate for bone, although it might be presumed to be



included in "other organs...." at 15 rems per year.  In fact, the NCRP




Report specifically defers judgment (paragraph 202, page 77, reference 3)




on bone doses to await recommendations from its committees on internal




emitters; which committees have yet to issue judgements beyond the one con-




tained in the referenced paragraph above.

-------
        600                        - 295 -





     Thus the official primary standards for the transuranium elements




remain, despite much ferment, pretty much as they were in 1959 except for




certain additions and modifications of derived figures.   But let it not be




forgotten that changes would have been made quickly and  certainly if the




growing storehouse of biological information had begun to indicate any




serious flaws in the basic information used originally.   The situation  would




not have remained static very long.




The Current Reexamination




     A.  Changes in Models and Metabolic Parameters




              Over the years since 1959 much new biological information has




         been gathered and formulated.  In addition to different values for




         some of the metabolic parameters, we have a new and more versatile




         lung model, a new GI tract model, much more about standard man,




         et cetera.  Only a small fraction of this has found its way into




         official use, although it has been generally drawn upon for almost



                                                        (4)
         every other purpose.  In my paper at Los Alamos    I presented "old"




         and potential "new" figures for Maximum Permissible Annual Intake




         by ingestion or inhalation of plutonium-238 and 239 and the derived




         values for air concentrations.  For the "new" figures I selected




         likely - but totally unofficial - metabolic values and models.




         The changes in derived values were almost all within a factor of




         ten, some increasing and some decreasing.  While it must be admitted




         that other choices - especially of aerosol characteristics might




         have made larger differences, the prediction that the newer models




         and metabolic data would lead to drastic reduction in standards,




         has not been realized for plutonium.

-------
                            - 296 -

                                                                     601


     The accumulated information on toxicity ratios between trans-



uranics and radium in the monumental dog experiment at the University



of Utah indicates rather remarkable similarities to the ratios



derived from shorter-lived rodents.  However, the current ratio of



five (expressed as the "N" factor in ICRP and NCRP formulations)



is certainly none too high.  Some of the dog experiments indicate



factors more like eight or ten.  This combined with Marshall's



indication that slower movement of the nuclides in bone structure



of man might lead to a higher toxicity in man indicates a potential



for some reduction in basic derived standards on this basis when



the responsible bodies complete their sifting of the newer (and



still accumulating) data.  Newer work with the transplutonics has



been ably summarized by Durbin.     Her survey plus currently



appearing papers suggest larger accumulations of some of these



nuclides in soft-tissues and correspondingly less in bone than in



earlier work.  If the critical organ dose calculation mode is used,



these changes would seem unlikely to lower standards.  If the risk



estimate approach is employed the situation might be different.



Results so far suggest that the transplutonics may be about equally



effective with plutonium (on activity basis) in inducing bone tumors.



Although the experiments are far from complete, especially those


     249       252
with    Cf and    Cf, if this is indeed true then these nuclides by



their greater mobility compared to plutonium may present greater



risks to soft tissue.  The net result might well be a reduction of



derived standards.  But current data do not suggest a large reduction



on this basis if it does occur.

-------
   602                        - 297 -




B.  Cancer Incidence Relationship




         In an important paper at the Fifth International Congress of




    Radiation Research, Dr. Roy C. Thompson presented two summary graphs




    which put together in one place most of the animal data on bone




    and lung cancer incidence from long-term exposure to plutonium.




    These present the incidence rates as a function of calculated radia-




    tion dose and are fraught with all of the pitfalls and difficulties




    of determining the true radiation dose which caused the cancer.  These




    are especially serious difficulties for an internal emitter like




    plutonium.  Also, the combining of data from many experiments em-




    ploying many species into a single summary graph is a very gross way




    to express relationships.  Yet, the broad outlines of cancer incidence




    rates are discernable since the data are reasonably coherent.




         As Dr. Thompson will no doubt point out in his own testimony




    at these hearings, the composite figures for lung cancer show a




    small but apparently significant increase at a cumulative mean dose




    as low as 30 rads.  The composite portrayed for plutonium-induced




    osteosarcoma shows several points above the abscissa (i.e., above




    zero increase in incidence) below 10 rads, although the mean




    figures are not above zero until a cumulative rad dose of slightly




    over 20 rads.  If one considers that at 15 rem per year and 50




    years of exposure, the total allowable cumulative occupational dose




    to the lung could be 750 rem while 30 rad is only 300 rem, one




    wonders if the safety factor in this standard is as large as desirable.

-------
                                 - 298  -
603
    Fortunately the occupational limits for air concentration have  been




    arranged so that the limiting dosage rate of 15 rem per year is




    reached only in the 50th year of exposure.   Thus 750 rem would  never




    be reached under this regimen.  But if this annual rate were to be




    applied to single or a series of short exposures,  the total  doses




    might come uncomfortably close to those associated with detectable




    increase in cancer incidence.




         A similar argument might be made for bone, although the practice




    of tying its limits directly to radium exposures in humans and  the




    even greater difficulties of calculating radiation dose to bone for




    alpha emitters make it more likely to be specious.




         Application of the dose commitment concept for single or short




    bursts of exposure has probably helped to prevent unacceptably




    large accumulations in man.  But it seems reasonable to expect  that




    the presence of finite cancer incidence at calculated doses  as  low




    as 10 rads or 100 rems will exert pressure toward lowering of the




    present official ICKP, NCRP, and other permissible exposures and




    intakes.




C.  Non-uniform Distribution




         It is amply clear that the transuranic nuclides show a  marked




    tendency to form aggregates in vitro and in vivo,  especially in the




    chemical and physical states of most likely exposure.  Thus, the




    maximal radiation doses in some areas may far exceed the average




    dose to the organ conventionally calculated.  A special case of this




    well-known non-uniform distribution phenomenon is the "hot particle"

-------
   604




problem emphasized in extenso by Tamplin and Cochran    and the




Natural Resources Defense Council,  Inc.




     While the bulk of current biological information does not




support the notion of any special carcinogenic effectiveness of  "hot




particles" in the lung, there are many critical pieces of information




which are not available.  Nor can they be expected to appear until




more is known of the mechanisms of carcinogenesis itself.  While I




disagree with the 115,000 factor by which Tamplin and Cochran suggest




the standards should be lowered, I do believe the "hot particle"




discussion will tend, along with other factors noted in the testi-




mony, to drive standards down, even if the scientific basis is not




clearly evident from experimental work.




     There is one aspect of the "hot particle" problem, however,




which I feel needs special emphasis.  As discussed earlier, we are




dealing with actual incidence data for plutonium, and to a lesser




extent for the transplutonics.  The animal exposures undoubtedly




involved non-uniform distributions, even "hot particles."  The




tissue responses measured have thus largely resulted from non-




uniform sources.  If maximal doses are utilized for the incidence




curves which take into account the non-uniformity of distribution,




instead of the average dose to the whole tissue, then the apparent




radiosensitivity, i.e., the dose to produce the effect, would be




correspondingly lowered.  The "effective dose" would be much higher




by this convention.  Then standards should be keyed to those doses

-------
                                - 300 -                                 605


    rather than to the calculated  average dose.   Thus,  in a sense the


    dosage calculations have led us  astray.   We  should  be sure we do  not


    forget that direct biological  information should always take  priority.


    The great strength of the data for radium in man and of the deri-


    vations of many of the standards for internal emitters therefrom,


    lies in the fact that activity and effect can be correlated without


    obligatorily going through the step of calculating  a radiation dose.


    This is also true in our extensive animal data with transuranics.


    Thus, I personally will await  a  clear demonstration of a special


    effectiveness of hot particles in the lung before accepting a drastic


    reduction based on dosage calculations alone.


D.  Population Exposures


         The enormous impetus of the "fall-out controversy" and the sub-


    sequent UNSCEAR and BEAR committee deliberations led first the


    Federal Radiation Council^ then the ICRP^8'  and NCRP^3-*  to  set


    down specific limits for radiation exposure  of the  general population


    both on the average and to an  individual. These were applied to


    radioisotope releases in the Federal Code of Regulations essentially


    by scaling down the occupational figure  by factors  of 1/10 or 1/30


    (the iodines and particulates  have received  separate and much more


    stringent treatment).  Such a  scaling down process  introduces


    many dilemmas for the transuranics as described in  a paper I  gave

                                         (4)
    at the Los Alamos Plutonium Symposium    so  long as one continues


    to use the calculation of dose and critical  organ convention.


    An alternative, taken up at length in the report of the BEIR

-------
      606
- 301 -
    Committee  '  and in the  1972 UNSCEAR report^   ' is to attempt to




    assay total or specific  health  effects.   Estimates of risk and




    decisions regarding acceptable  risk take  the place of comparing




    a given exposure with  a  maximum allowable dose or dose rate.  This




    approach has  its attractions, but  it must lean heavily on estimates




    of risk derived from a few special human populations.




         While there are an  increasing number of papers appearing in




    which the direct estimation of  total or some specific health effect




    is employed in connection with  aspects of the nuclear fuel cycle




    (e.g.,  Barr^   '), neither ICRP  or  NCRP has yet officially embraced




    this alternative.  What  effect  if  any such a change if it does occur




    will have on basic and derived  standards  is difficult to predict,




    particularly since opinions are still widely divergent on details




    of risk assessment. Nonetheless,  it seems unlikely that the




    figures for total health effects or even  the most likely specific




    effects from the presently accepted dose  rates or total doses will




    be accepted if the technology will permit lower risks without undue




    loss of benefits.  In  any event, the use  of a population exposure




    figure for the transuranic group of nuclides based on a simple




    scaling factor from occupational levels is probably untenable.




    Thus change in these,  not necessarily drastic, but definite seems




    very likely,  and it will probably  be downward.




E.  The Lymph Node Problem




         A final example of  how dosage calculations, unmodified by bio-




    medical information, can lead  to dilemmas and  claims of overexposure




    is seen in the deposition of inhaled nuclides  in pulmonary, parti-




    cularly bronchiopulmonary, lymph nodes.   This was discussed at some

-------
                             -  302  -

                                                                   607
                                             (4)
length in my paper at Los Alamos in May 1974.     Every toxicologist


knows that insoluble materials leaving the lung deposit, sometimes


in very high concentrations, in the lymph nodes along the channels


of lymphatic drainage of the lung.   This is fully  true for the


transuranic elements and very high radiation doses can be calculated


as resulting from the amounts deposited.  But there has yet to be


found a primary cancer associated with or resulting from these


deposits.  The nodes may be completely fibrosed and essentially


non-functional, but no cancer.  Lung and bone cancers appear in


the same animals and at much lower calculated doses.


     Because of the strong concentration of nuclide in lymph nodes,


dosage rate alone would make them critical organ after inhalation


exposure in nearly all cases of inhalation of insoluble compounds


and derived standards would be automatically reduced.  But this


has not been done because of the apparent radioresistance of this


tissue in terms of local cancer induction.  Perhaps this should be


recognized and the dilemma of not allowing an "overdose" solved for


the health physicist by providing a more realistic maximum permissible


annual dose rate for this tissue.  But I would not personally wish


to see such a move allow doses which would produce significant


fibrosis or other definite damage,  and these would probably not be


so far above current dose levels that the dilemma would cease to


exist.  On this basis, I feel that a proper accounting should be


made of the lymph node activities and biological changes associated


therewith rather than simply pass the problem by as too difficult to

-------
     608
- 303 -
handle.  I can envision such a move as  resulting  in  some lowering of




current standards under certain conditions.




Conclusions




     This statement is much more speculative in some respects  than I




usually allow myself to engage in.   But since my  subject concerns the




probable future trends of standards for the  transuranic elements, I feel




it necessary to indulge in many personal prognostications.     These in




summary predict downward alterations of present primary and  derived standards




but of magnitudes which would probably  not strain current technology unduly.




But on the other hand, it must be stressed that we still need  some very




important biomedical information which  only  time, patience,  and  careful




scientific work can supply and standards will probably continue  for some




time to involve many assumptions which  must  rest  on  incomplete information.

-------
                                                                             609




                                   REFERENCES





(1)  Langham, W.  H.  and J.  Healy,  Chapter 12 in Vol.  36  of  the  Handbook of




        Experimental Pharmacology  series, entitled  "Uranium, Plutonium, and




        the Transplutonic Elements."  H.  C. Hodge,  J.  N.  Stannard and  J. B.




        Hursh, Ed.,  Springer-Verlag, New  York,  Heidelberg,  Berlin,  1973.




(2)  Dolphin, G.  W., Ibid.  Chapter 19.




(3)  National Council on Radiation Protection and Measurements, Report No. 39,




        "Basic Radiation Protection Criteria."   NCRP  Publications,  Washington,




        D.C., 1971.




(4)  Stannard, J.N., "The Concepts of Critical  Organ  and Radiation  Dose as




        Applied to Plutonium," presented  at Los Alamos Biology  Symposium,




        May 1974. To be published in Health Physics.




(5)  Durbin, P.W., Chapter  18 in Vol.  36  of the Handbook of Experiment




        Pharmacology series,  entitled "Uranium,  Plutonium,  and  the  Trans-




        plutonic  Elements."  H.  C. Hodge, J. N.  Stannard and J. B.  Hursh, Ed.,




        Springer-Verlag, New  York, Heidelberg,  Berlin, 1973.




(6)  Tamplin, A.  R.  and Cochran, T.  B., "Radiation  Standards for Hot




        Particles, A Report on the Inadequacy of Existing Radiation Pro-




        tection Standards Related  to Internal Exposure of Man to Insoluble




        Particles of Plutonium and Other  Alpha-Emitting  Hot Particles,"




        Natural Resources Defense  Council, Washington, D.C., February  14, 1974.




(7)  Federal Radiation Council (FRC),  Report No. 1, 1960, (U.S. Department




        of Commerce).

-------
         610



  (8)   International  Commission  on  Radiological Protection  (ICKP), 1966,




          Publication No.  9  (Pergaraon Press, Oxford).




  (9)   National Academy of Sciences-National Research Council (NAS-NRC),




          Division of Medical  Sciences,  1972, Report on "The Effects on




          Populations of Exposure to Low Levels of Ionizing Radiation,"




          (NAS-NRC, Washington,  D.C.).




(10)   United Nations  Scientific  Committee on "The Effects of Atomic Radiation




          (UNSCEAR),  1972, Vol.  II:  Effects, (United Nations, N.Y.).




(11)   Barr,  N.  F., "Quantitative Health Estimates of Transuranic Releases,"




          Division of Biomedical and Environmental Research, paper presented




          at American Nuclear  Society meeting, Washington, D.C., October 1974.

-------
                                                                        611
     Dr. Mills:  Before we turn to the comments and questions, could we




take about a five minute break.




     (Brief recess.)




     Dr. Mills:  I would like at this time to introduce Dr. Karl Z.




Morgan of the Institute of Technology, a member of the panel.




     We are happy that Dr. Morgan has recovered partially and is able to




sit with us today.




     We will have some scheduling problem.  What 1 have suggested is that




we limit our comments and questions of this particular group to about 15




or 20 minutes or so, but ask if they would, if they would stick around for




this afternoon, so if we have any additional questions -




     I do not know how much difficulty that will give you people.  Those




who can.  If they are not around, we may submit some written questions.




     Dr. Radford:  Will they be able to stay around?




     Dr. Liverman:  They each have individual travel plans.




     Dr. Burr:  Some have problems after four.




     Dr. Mills:  Hopefully we will get through before that.




     Dr. Liverman:  What about the group from yesterday?  Those, too, or




just this group?




     Dr. Mills:  Does anyone have any questions of the group from yester-




day?




     I think it is primarily this group.




     Yesterday, I started off with the questions.   Today, I would like to




turn it around a little bit:   I would like to start with Dr. Taylor.




     Dr. Taylor:  I would like to make a comment first.

-------
      612
     This group of papers this morning was really one of the nicest




collection of information on the status of this situation that I have




listened to in many a day.




     I was going to ask a question, but the question was very nicely




answered for me in the last statement of Dr. Richmond.




     I wanted to draw from these people some feeling on their part,




at least their personal feeling, as to whether we were moderately within




base, as it were, with our present plutonium standards for occupational




exposure as well as for population exposure.




     I think both of these questions have been adequately answered.  Two




things have really come out of discussion:  One, that we do not seem to be,




in their opinion, really off base much; and secondly, there is no great




likelihood of there being any vast reservoir of new information develop-




ing as a result of our experience which is likely to change the situation




with regard to our present day standards.




     I would just like to ask one general question.




     Is that conclusion that I am drawing the same as the conclusion




you people were trying to present?  Does anybody want to argue about it?




     Dr. Thompson:  I think I am on record-if I was not already,




Herb Parker put me on record yesterday-as feeling that the present occupa-




tional standard for plutonium is less conservative than the radium standard




by something like a factor of ten.




     I feel that a factor of ten in such a standard is sort of a marginal




change, that you cannot be certain about such things by less than a factor




of ten.

-------
                                                                       613
     So I do not consider this to be a serious problem or a major change.




Compared to the standard for radium I think the standard for plutonium is




not quite as safe.




     Dr. Taylor:  I regard a factor of ten as having one foot on the base




still.




     Dr. Thompson:  Right.




     Dr. Richmond:  I would like to add that the usual practice and




procedures followed operationally within the industry is to remove people




when they show a fraction of the maximum permissible occupational burden.




     I think it is very interesting that the autopsy data that is now being




accrued from various laboratories and from the United Kingdom suggests




quite strongly that there is a conservative factor built into the bioassey




procedures that are used to estimate the body burden.




     So I point out that almost without exception, the amount in the body




at autopsy is less than that predicted.




     The reason I make a point of this is that when people are removed




from the particular job, they are put into another.  Very often, people




make the assumption that there is no risk with any other operation in the




industry.




     We all know this is not true, so I think it is a very important




consideration, the fact that there is apparently this conservation built




in.




     Dr. Mills:  Dr. First?




     Dr. First:  I have just one general question.  This relates to the




details of the human exposure data; the data base, as many of you have

-------
   614
mentioned is quite small.  This did not come up in your discussions.  I




wonder if there has been a consideration of what the confidence limit would




be in drawing conclusions from this small number of cases that you reviewed?




     Dr. Richmond:  Yes.  We have addressed that question in the references




that accompany my information and that was submitted for the record.




     There is a reference to a publication which is now available, part of




the Third International Congress on International Radiation Protection,




which was held here in Washington in September, 1973.




     It is a very good question you bring up.   I think that is primarily




the reason that some of the information I showed this morning reflects the




concern in terms of building up that data base.




     Group II is an attempt to increase those  individuals that were




exposed back in 1940's.  Since we have a three decade period of potential




change.




     In the paper I mentioned specifically, we did look at vital statistics




data.  You would expect more, perhaps five or  six, I believe, as the number




of cancer deaths in a group of say 25 people,  let us say, normal individuals




from a population.  However, there are only certain kinds of effects one




would expect to see on the basis of the animal data:  cancer, notably




cancer of the lung, bone and perhaps liver.  So one can make estimates of




the numbers of those kinds of effects one would see, even with a popu-




lation that small.




     The number happens to be about one for lung cancer, and a very small




fraction, for example, for bone cancer.  So I  think it would be disastrous

-------
                                                                        615
not to study a small group on the basis of statistics alone.




     It is reassuring because if we saw three or five bone cancers in this




group where we would expect a smaller fraction, perhaps .04, as I remember,




this is very telling.




     So, I guess my point is there are only certain kinds of effects that




screens down the statistical problem, in a sense.




     Dr. First:  This is referenced in your paper?  I could find its




reference?




     Dr. Richmond:  Yes.  I could make it available to the Chairman, if




you would like the entire publication.




     Dr. First:  No.  That will be all right.  Thank you.




     Dr. Mills:  Dr. Radford?




     Dr. Radford:  I have a great many questions, and I may be asking some




of you to come back.  I do not want to usurp all of the time this morning




from my colleagues.




     It seems to me we are really getting to grips with the issue that




is before this panel predominantly.




     Anyway, may I add to what Dr. Taylor had said and congratulate




especially Dr. Bair, but also Dr. Richmond in their presentations, and to




congratulate Dr. Bair especially for the work that has been done at the




Hanford Laboratory on these problems over many years, which obviously goes




back a long time before 1970.




     It is regrettable that the operational division of the Agency had not




seen fit to be, perhaps, as vigilant in looking at this problem from the




environmental point of view.

-------
     Bib
     Now, I would like to address a number of questions and I will try to





keep them down so that 1 wiil give my colleagues on the left a chance.




     First, with regard to the current plutonium standard or other trans-




uranic standards, they have been based on bone effects.  The .04 occupational




body burden is based on bone end point.  Is that correct?




     I believe in reading through that section that Dr. Richmond skipped




over, that is the thrust of the statement.  Is that correct?




     It is a comparison between the radium 226 results and the plutonium




results?




     Dr. Richmond:  Yes.




     Dr. Radford:  So that if there were problems in connection with




certain of the transuranic mix that did not have bone as the primary site




of ash, then that approach would not be applicable?




     Dr. Richmond:  Correct.  There are other considerations.  For example,




I think you are alluding probably to effects that might occur in a lung.




     In that case, there is another primary radiation standard which, I am




sure you know, is 15 rem per year for occupational workers.  This standard




is based on other data.




     So that it depends on the specific organ which one is concerned with




as to what standard one uses and how it is developed.




     Dr. Radford:  The version of the body burden standard that I am




familiar with, and I may not have the latest one, does not give a lung




burden as the standard for plutonium 239.  Correct?




     Dr. Richmond:  That is correct in a sense.  I think that should be




explained.  You will not normally find calculated values in tables for any

-------
                                                                     617




regulation applied to the lung.




     Specifically for plutonium 239, let us consider the lung; the derived




standard is a quantity (0.016 microcuries) of plutonium which will deliver




the annual dose rate equivalent which was 15 rem per year.




     This is the procedural mechanism that is involved for calculating the




derived standard from the primary standard, which is the dose rate for




various radionuclides.




     Dr. Radford:  Dr. Richmond, since you are answering, you mentioned in




answer to Dr. First's question, I think, that the data comparing the models




of exposure, say, of lung tissue or other tissue to excretion data or other




criteria by which you calculate body burden, contain an element of con-




servatism because in Britain and the United States finding that perhaps




the model was a little over-estimating the body burdens.




     Yet, you state there was good agreement between the calculated and




the observed data by organ tissue in the human samples that you showed in




one of your charts.




     To my eyes, that agreement is not really terribly spectacular when you




looked at the particular ones; the big deviation seemed to be the lymph




nodes calculated to be substantially higher than they were since the lymph




nodes, apparently have a fairly large fraction of the total body burden.




     That would give the appearance that the body burdens were conservative.




What I just said, is that in accord with your understanding of the facts.




     Dr. Richmond:   I am not sure I understand,  but let me try to answer,




I think there are two issues.   Basically, you are right in both.




     One comparison I made was with the amount found at autopsy in the body

-------
    618
as compared with the amount predicted from bioassey data.




     There was another comparison made; that is, the amount found in non-




occupational ly exposed personnel or people with the amount predicted from




models that Burt Bennett talked about yesterday which incorporated the




ICRP parameters that determine lung deposition and translocation to




different organs and tissues.




     So there are really two comparisons that I made.




     Dr. Radford:  Which ones do you think are the most important and




relevant?




     Dr. Richmond:  I have already addressed my responses  about how I




view the importance of the finding.  Apparently there is a conservatism




built into the bioassey models that are used to estimate the amount




of plutonium in a worker during life.




     I think the other comparison is important in that it  tells us that




we are not way off base in using the metabolic parameters  that have been




developed by ICRP in getting the material from the air through the lung,




for example, to a given organ.




     Dr. Radford:  I am referring to Table X in your paper, "Plutonium 239




in Man."  You have Colorado-New Mexico and New York.  That is the table




I am referring to.




     Those are occupational exposures?




     Dr. Richmond:  These are non-occupational exposures.




     Dr. Radford:  Do you consider the agreement good there?




     Dr. Richmond:  Yes, I see your question now.  You are concerned about




the fact that the lymph burden as measured is .03; whereas computed, it

-------
                                                                    619
is  .6.




     Dr. Radford:  Right.




     Dr. Richmond:  That is the one tissue that does not agree well.  I




think my interpretation is that the particle size -




     Dr. Radford:  All the other organs show higher values when you




calculated, so to that extent, if you are talking about other tissues




than lymph nodes, the exposure would be underestimated.




     Dr. Richmond:  I think there are a lot of uncertainties in these




values.  When you are talking about measuring small quantities.  You have




.3  piocuries for an entire lung.  There is a notable difference in the




lymph tissue.




     My own feelings there are, this case represents plutonium from fall-




out.  It is relatively small particles, and the quantity is small so you




do not have a physical entrapment, for example, in a lymph node, because




of radiation dose considerations.




     You have transit through the lymph tissue.  These are reflections on




the kind and size of plutonium during fallout.




     Dr. Radford:  I think it was brought out yesterday that the fallout




distribution of both isotopes and particle size may be quite different from




the kind of thing you have observed occupationally or in the environment




around a nuclear facility.




     That is correct, isn't it?




     Dr. Richmond:  Yes.   I think basically one would expect these to be




different,  but I think you have to actually have a set of data to compare




one to the other.

-------
620
      Dr. Radford:  I would like to ask the question,  when you do these lung




 measurements, how do you actually measure the plutonium in the lung that




 you report on these tables, lung tissue.  How is it actually done?




      Dr. Richmond:  You are referring to the analytical procedure?




      Dr. Radford:  I do not care about the radionanalytical part.  I mean




 you have a cadaver lying there.  What happens?  How do you sample?




      Dr. Richmond:  The samples are taken by pathologists who are involved




 in these studies in a cooperative basis.  They are sent to the laboratory




 involved.




      Dr. Radford:  OK.  What does the pathologist give you?




      Dr. Richmond:  The samples that are asked for.




      Dr. Radford:  What you ask for?




      Dr. Richmond:  Lung, lymph nodes, bone.  The ones that were indicated.




 There are established procedures in terms of quantities requested; if




 possible, entire half lung, or one lung.




      Dr. Radford:  Do you get whole lungs?




      Dr. Richmond:  In some cases, yes.




      Dr. Radford:  When you get a whole lung, you put it in a blender and




 measure the whole lung?




      Dr. Richmond:  The samples are processed by both wet and dry procedures,




 put in ovens and reduced.  Ultimately, one does a chemical separation and




 then does spectroscopy, identifying the alpha emitters, following electro-




 deposition, by measurement of the actual energy of the alphas involved,




 238, 239 or whatever.




      Dr. Radford:  Would it be fair to say most of the lung samples you

-------
                                                                       621
mentioned up to now have been pices of lung obtained by the pathologists




rather than whole lungs?




     Dr. Richmond:  It is very difficult.  I think what one would have to




do is sit down and look at the data base.




     For example, many of the individual autopsies that date back into the




1940's, say, in Hanford and Los Alamos, were done in small communities with




local people.  It was not uncommon to be able to obtain entire lungs.




     I think more recent in history, it is progessively difficult to get




entire organs.




     Dr. Radford:  Those measurements, to summarize then, are basically




lung paretum measurements?




     Dr. Richmond:  I think again — I hate to make broad statements.  I




think one would have to go back and look at the actual information.  There




are very detailed studies looking at, for example, the periphery of the




lung just under the  outer covering, looking at different portions of the




lung.




     So it depends.  In addition to looking at the entire amount within an




organ, there have been other attempts to see if the concentrations vary.




     I think in most cases, the primary piece of information one gets is




the total amount of plutonium in the tissue sample that is submitted.




     Dr. Radford:  I have a lot of other questions, both for you and for




Dr. Bair, but I would like to ask just one final question so we can move




on to the next questioner.




     Did I read your statement correctly, that in the one case of hematoma

-------
622
that occurred in an early exposed group, that the total burden as measured




was largely the lymph nodes and it was eight nanocuries?




     Is that a correct statement?




     Dr. Richmond:  I believe that is correct.  It is estimated to be eight




nanocuries, roughly, evenly distributed between the lung and lymph tissue.




     Dr. Radford:  So in that one istance, a rather rare tumor, which may




be of low malignancy, but nevertheless would be life threatening if it were




not operated on, was obtained with the body burden well below the current




value of 40 in lung tissue?




     Dr. Richmond:  Would you repeat the question, please?




     Dr. Radford:  The question is, there is one tumor of the thorax which




has been observed in this group of 21 that have been followed.  That tumor




arose, a rare tumor, unusal; you would not expect to find it in 21 people




or even maybe 21,000.




     Yet, that occurred in a person with eight nanocuries body burden,




most of which is in lung tissue.




     Dr. Richmond:  I think what I would like for you to do is to refer to




Appendix I in the Health Physics paper which we wrote on this, which is




Volume 25, 1973.




     There is an appendix referring to the medical follow up on patient




#2.  I do not presume to be a physician.  I think it would be unfair for




me to try to answer that kind of question.




     Dr. Radford:  OK.  I would like to indicate that I would like to ask




many more questions, since these are very important presentations.

-------
                                                                      623
     Dr. Mills:  Dr. Garner?




     Dr. Garner:  I would like just to refer back to the dialogue between




Dr. Radford and Dr. Richmond.




     There are two models:  One is an excretion model used for predicting




body burdens from urinary excretions data.  The other model he was




referring to was a model based on the ICRP model, two entirely different




things.




     I would like to come back to Dr. Thompson, who seems to extrapolate




from animal data.  Once you choose to extrapolate from animal data, you




open up an enormous can of worms.




     I would like to ask a couple of questions bearing on this.




     One is, all the data so far, at least the data you referred to, was




obtained on a homogeneous group of healthy animals, I would presume.  I




would like to ask if any data exists on modification and response; for




example, intercurrent bacterial infection?




     Dr. Bair:  To my knowledge, no plutonium experiments are in progress




with animals that have been subjected to bacterial infection.




     There is an experiment in progress where animals are being exposed




to plutonium plus benzo(a)pyrene.  Also, an experiment with asbestos plus




plutonium has been done.




     Dr. Garner:  Isn't there some work of the Lovelace Foundation on this




problem?




     Dr. Bair:  I believe it is a pulmonary clearance.




     Dr. Garner:  I thought it had something to do with mataplastic and




neoplastic tissue.

-------
 624
     Dr. Bair:  It may be, but I am not aware of it.




     Dr. Liverman:  We do have a man here from Lovelace.




     Dr. Hobbs:  I am Chuck Hobbs of the Lovelace Foundation.   We do have




some work which has not been published on the combined effects of plutonium




inhalation and influenza infection, both in mice and in hamsters.




     It is in the earlier stages.




     Dr. Garner:  So something is going on anyway.  That is what I wanted




to establish.




     The second thing is, I would like to ask Bill Bair if, in fact, the




spectrum of tumors that was seen in animals produced by plutonium and other




transuranium elements can be expected in humans?




     Isn't there a difference in the type of tumors?  Isn't this a big




problem, the extrapolation from animals to man?




     Dr. Bair:  The question of extrapolating from animal experiments




to man is important.  In animals which have inhaled plutonium the site of




origin of the tumors appears to be primarily in the lung periphery.  I




would expect the same thing in man.




     In the event of a human exposure, I would expect the plutonium to be




deposited and accumulated in essentially the same areas of the lung that




accumulate plutonium in experimental animals.




     Consequently, if a tumor develops, I would expect it to originate in




the lung periphery.




     In experiments being performed in laboratories in the United States




and France, the types of tumors observed are similar to the types of tumors




that occur in man.

-------
                                                                         625
     In France, they are seeing an equal number of squamous cell carcinomas




and bronchiola alveolar carcinomas in rats after inhalation of plutonium




and other transuranics.




     One difficulty in extrapolating to man from experimental animals is




man himself.  As you have already brought out, man is exposed to many




toxic agents.  Smoking, certainly contributes to the pathology of the




human lung and we do not know how this might influence the response to




inhaled plutonium.  The fact that pathologists often disagree in classi-




fying tumors and identifying the origin of tumors in human lung creates




a further problem.




     In summary, I believe the origin of tumors and the types of tumors




which occur after inhalation of plutonium are reasonably well identified




in experimental animals.  I would expect a similar response in human




beings, unless complications were brought about by the exposure of human




beings to other agents.




     Dr. Garner:  Just one final comment, for Dr. Thompson.  I appreciated




his presentation very much, but I thought he started off on the wrong foot




because he skipped the real big problem.




     He mentioned unacceptable risk because the problem is what is an




acceptable risk.




     Dr. Mills:  Dr. Morgan?




     Dr. Morgan:  I would like to ask Bill Bair how he would interpret




today the early experiments of Finkle et al where small amounts of plu-




tonium, as small as one microgram of plutonium 239, were injected in the




animals and got about a 40 percent to 50 percent incidence of tumors.

-------
   626





     Yet, the tissue involved, the tissue at risk is essentially the same




type of tissue that is involved in parts of the lung.




     Have you any interpretation of the reason that we have these




differences?




     Dr. Bair:  No.  I am not prepared to answer that question.  I would




have to look at the experimental data.




     Dr. Morgan:  There are several other data that suggests that wounds




are particularly vulnerable at the site, and yet as I say, it is some of




the same type of tissue that behaves differently, apparently, in the lung.




     First of all, I should commend each of you for the very fine and




scholarly presentations that you have made.




     Dr. Burr, you mentioned the fact that common forms of cancer that




will undoubtedly occur in former employees in the National Laboratory's




production facilities and so on, that these should not be taken as evidence




that they resulted from the exposures to plutonium.




     Perhaps you did not intend to underline the words "common forms of




cancer," but my question is, what types of cancer are you thinking about




that we should focus on?




     Certainly, you would be concerned about increased instances of these




common forms, but did you mean to imply that there are other types we




should be looking for?




     Dr. Burr:  Your interpretation is right:  I should not have put the




emphasis on "common."  In other words, what I was trying to point out is




the fact that if one sees cancer; that does not show a causal relationship




because in a population like this, one anticipates that there will be

-------
                                                                         627



cancers and cancer deaths.




     What I was trying to emphasize is that we are going to be taxed to




considerable extent with the sizes of population to try to decide if there




is indeed an increase in the number of incidents.




     You are quite right.  That is what we are looking for, an increase in




incidents of any tumors as an indication of the effect.




     There was one other point I wanted to make that Dr. Richmond made




earlier - but it slipped my mind now - in one of his earlier answers,




which I thought in part answered that.




     Dr. Morgan:  Dr. Richmond, you recall some of the earlier exposure




data on humans where presumably we have good information on the quantities




that were administered to these humans and yet give data on the total body




content.




     Is their information on the distribution of the body organs — It




seems to me that to know the distribution in the human body from a known




intake, and of course, we would like a known intake primarily from




insoluble plutonium oxide forms, what would the distribution be in the




lung, the liver, the bone and osteotissue of the bone, as a function of




time and age of the individual, having taken in the known burden of




plutonium oxide by inhalation?




     It seems to me maybe this is the $64 question, because you may have




some evidence that turns the heat off the hot particle problem, at least




in my eyes it does, or at least may shelve that problem until we get more




information.




     But I do not think we have any cause to relax our concern for the

-------
620





      Certainly, it is evidence, I believe, that it is not the lymph nodes




  that presumably receive the largest dose, so the tissue of highest dose




  is not  the accurate or necessarily sufficient criterion of the critical




  organ.




      Dr. Richmond:  Let me say I agree very wholeheartedly with your last




  comment.  The particular case that Dr. Radford was referring to earlier is




  pointed out in the appendix to our 1973 paper in Health Physics.  It is of




  interest and is consistent with much information obtained from other




  experimental data.




      We sometimes see changes, high concentrations or relatively high




  concentrations and yet, essentially, no biological effects relative to




  effects you see in the lung, for example.




      Dr. Morgan:  Dr. Thompson, you referred to the BEIR Report and the




  extrapolation from external exposure primarily.  The, going to the use of




  the alpha emitters, the use of the RBE and the end factor of the non-uniform




  distribution.




      But it seems to me that there are a number of other factors that he




  might have focussed on.  One that was brought out in the meeting at Alta,




  Utah this past summer and was emphasized is the fact that with human ex-




  posure  to radium 224, which like plutonium 239 deposits on the surface




  tissue  of the tibecular bone, because it does not have time, having a




  short half-life, to be buried as does radium 226, so this radium 224 de-




  posits, then, on the surface and behaves very much than like plutonium 239.




      This is human data.  It was emphasized at this meeting that pro-




  traction of the dose enhances the hazard rather than diminishes the

-------
                                                                         629
hazard, as is the case with external exposure.




     Of course, this might be something that would be great concern or




great interest, let us say, for chronic long time exposure to humans




because that certainly is protracted exposure.




     Would you care to comment on this?




     Dr. Thompson:  I think that is a very significant observation and




one which certainly is applicable to this problem,




     One can speculate that this observation might be explained in terms




of a more uniform distribution of the dose.  Just as is seen in other




experiments on a spatial basis, here we have a more uniform distribution




on a time basis and we are exposing more cells by fractionating the dose




in time.




     I did not mention the radium 224 data specifically, although it was




included on the one viewgraph.  But this is an important source of infor-




mation on human effects which, though it is not plutonium data as




Dr. Morgan has explained, its distribition in bone is perhaps very




similar to plutonium because of its short half-life.




     Dr. Morgan:  Also, you had a graph that gave, I believe, the effects




axis of the dose — you indicated it was more likely to be asymptotic to




the dose axis than to the effects axis.




     This would seem to be contrary to the paper given by Dr. Bonn at




the annual meeting of the Health Physics Society in Houston this year in




which he plotted his data on bi-rythmic curve, and it's the best fit of the




data for alpha emitters in humans.

-------
  630
     For the function, say, of effect E equal to some constant times




dose to the nth power, the best fit was to take n equal to one half




rather than one, or something greater.




     This would mean it would likely become asymptotic to the effects




axis rather than the dose axis.




     Do you have any comment on this, or any criticism you would like to




make of Dr. Bonn's report?




     Dr. Thompson:  I did not hear the report and I have not got a clear




picture of it.  From this brief discussion, I would say, in the first




place, my figure was not semi-logarithmic.  It was meant to be linear.




I do not know how that would affect your question.




     It does seem to me, though, on almost intuitive grounds, that




when you get down into the range of background exposure, you can not have




a steeply rising curve relating effect to dose.




     Otherwise, there would be such a tremendous advantage to living




in a low background area that our higher elevation areas would be




unpopulated.




     Dr. Morgan:  We could discuss this later.




     One final question, to the panel.  I do not address it to anyone




in particular, but following up on Dr. Taylor's question, it may be as




I said before, we cannot resolve to our liking the question of the hot




particle problem.




     It has been with us, or at least with me, for over 30 years.  It is




recognized for that long.  But the question of the incidents of tumor in




bone, if we look at that and take the excellent data at Utah it would

-------
                                                                           631




seem to me that the end factor could be increased somewhere between,




somewhere in the neighborhood of 10 to 15.




     So we might have justification of increasing the end factor of the




present guideline.  We now use for Q the body burden based on bone by




a factor of three.




     Dr. Thompson and Dr. Bair pointed out, I believe it was in the




paper in Science in February of the past year or this year, that the




surface to volume ratio where you have the deposition on the skeleton




of the actinide elements is roughly twice that in a dog to that in a




human.




     So that would have a factor two.  Then, Bill, both you and Roy




pointed out that the burial effectiveness of the actinides, presumably




ten times greater in a dog than it is for man.




     The rate of burial, so there we have a factor of ten.




     Then there is the French paper which shows that in the case of




primates such as the baboon, that they are four times more radiosen-




sitive in terms of survival following exposure to plutonium oxide than




is man.




     That would be a factor of four.




     So it would seem to me, if you would multiply all of these




together, you end up with something of a hundred or more rather than




your factor of ten.




     It seems to me, then, setting the exposure value based on bone's




critical tissue, that maybe our present value should be lower by a




factor of 100.

-------
   632
     I believe you said maybe by a factor of ten.




     Dr. Bair:  I might comment about the appropriateness of multiply-




ing factors and identify at least one that perhaps should not be




multiplied by the factors for bone that you mention.




     That is, the factor you mentioned with regard to the baboon




studies in France.  I believe the life shortening in these baboons




was due to plutonium dioxide in lungs and not to radiation exposure




of bone.




     I am not sure you would want to multiply a factor obtained for




lung by other factors that pertain to bone, without at least some




modification to reflect the distribution of plutonium between these




two tissues.




     Dr. Thompson:  I think Dr. Morgan and I agree that there is some




reason to perhaps lower the standard.  Whether it is by a factor of




ten or a hundred, I do not think this is probably the place to try to




settle that issue.




     I do think that there is a question about the multiplicability of




all these various factors.




     Dr. Richmond:  I would like to add to that, if I may.  I think it




is important to realize that these are studies that are underway.




     We are now trying to find out more about the relative deposition,




bone surface to volume ratio in dog, man and other animals, and make




refinements.




     I guess my personal feelings are I think we had better get more

-------
                                                                         633




of this information and try to understand it a little better before




we do calculations and get too carried away with them.




     To me, that is a very important thing.  We are recognizing some




of these factors, but they have not been quantitated yet.  Personnally,




I think a lot needs to be learned yet.




     Dr. Mills:  Dr. Radford has one more question.




     Dr. Radford:  I would like to ask this of the whole panel because




it is germane to some of the discussion we have been having on the




effects of dose.




     I think you gentlemen are all familiar with the ICRP publication




on the relative biological effectiveness concept and the conclusions




that the ICRP committee drew on that.




     It is presented in the form of a graph which shows, for example,




that if you plot the effect as a function of dose for low radiation,




the power may be greater than one which is consistent with an exponent




of less than one, meaning that the curve effect is a curve linear down-




ward to the axis.




     The point I want to ask, do you not infer from this, as indeed




the ICRP committee inferred from this, that the relative effectiveness




of high L.E.T. radiation is greater at lower doses than at higher




doses?




     Dr. Thompson:  I will tackle at least one aspect of that question.




     The question in my mind is when does this curve — if there is an




enhanced effect of dose — when does that curve come down?  It curves

-------
  634
down some time before it gets to zero.  It's got to reach zero at zero




dose.




     I do not think there is any evidence I am aware of to indicate




where in this area that curve comes down.




     My feeling is it comes down before you get to the background




region — it does not just come down asymptotic to the effect axis.




But we do not have experimental data in this area.  I revert to my




basic conviction that the important point here is not dose, but the




effects, as seen in experimental animals.




     Dr. Radford:  As you know, in the uranium miners, there have been




considerable discussions on just this point.  I heard some data pre-




sented at the Seattle meeting this year,  showing that more recent




uranium mine data does support the concept of the relative effective-




ness per rad dose does go up at the lower dose.




     This has been the orthodoxy.




     Dr. Thompson:  But these lower doses are still far higher than




natural background.




     Dr. Radford: Sure, I am not talking anything about natural




background.




     Dr. Thompson:  This (natural background) is the area of concern




as far as general populations are concerned.




     Dr. Radford:  But the point is that a group of people from the




ICRP who are very knowledgeable about the whole theoretical and experi-




mental basis did conclude that one would expect the R. B. E. would

-------
                                                                          635




increase at lower doses;  that is,  low L.E.T.  radiation becomes less




effective in low doses  where high  L.E.T.  radiation would stay about




the same.




     I am not saying it is  getting more  so.




     Dr. Mills:   I hate to  cut this discussion  off, but I would like




to add to the panel opinion here,  that the material you have submitted




is well documented.




     Thank you very much.

-------
636
              SUPPLEMENTAL ADDITIONS TO THE AEC TESTIMONY

-------
                               -  307  -

                            U' : .ID STATES,
                   ATOMIC  EIVRGY  COMMISSION
                         WASHiriGTON, D.C. 20545
637
                           AUG 1 6  1374
Clarence C. Lushbaugh, M.D.
109 Darwin Lane
Oak Ridge, Tennessee  37830

Dear Dr. Lushbaugh:

The Atomic Energy Commission has received from the Natural Resources
Defense Council a petition to establish special standards for alpha-
emitting radionuclides in insoluble, particulate form.  A copy of this
petition, and a supporting statement submitted with the petition, are
enclosed.  On pages 26 through 29 of the supporting statement a
quotation from an article by C. C. Lushbaugh and J. Langham, published
in the Archives of Dermatology in 1962, is used as the basis for the
following conclusions:

(1)  A single Pu-239 particle is capable of inducing cancer;
(2)  The risk of cancer may be greater than 1/1000 per particle.

The Commission's standards for exposure to insoluble, airborne
plutonium and other alpha-emitters are based on a permissible lung
burden of 16 nCi, which could consist of many thousands of particles
deposited in the lung, the actual number depending upon the size of
the particle.  For example, 16 nCi is equivalent to 2 x 10^ particles
of 0.3-micron diameter.  The risk associated with such a large number
of particles would obviously be unacceptable if the risk pe,r particle
is as great as concluded in the supporting statement.

The Commission is currently conducting an evaluation of its standards
for airborne, alpha-emitting radionuclides in insoluble form, and
great importance is attached to the risk which may be associated with
relatively small numbers of alpha-emitting particles in the lung.  In
this connection we would appreciate receiving from you a statement as
to whether your findings in the case reported in the Archives of
Dermatology do in fact support the two conclusions drawn in the
supporting statement, as listed above.

                                 Sincerely yours,
                                     :er Rogers
                                 Director of Regulatory Standards

-------
638
                           September 10,  1974
   Mr. Lester Rogers
   Director of Regulatory
       Standards
   U.S. Atomic Energy Commission
   Washington, D.C. 20545

   Dear Mr. Rogers:

        In reference to your letter of August 16,  1974,  I should
   point out that earlier this year I worked with  Dr.  Bruce Wachholz
   of Bio-medical Prograras, DBER, Germantown Headquarters, on the
   initial stages of a document recently numbered  VIASH-1320;
   .entitled, A Bad-iobio'log-Lca.l Assessment of the Snatial Distinbiiti-on
   of Radiation Dose from Inhaled Plutonium Particles; and authored
   by W. Bair, C. Richmond, and B. Wachholz.Although I have not
   seen this paper in its final form as it is at this  moment still
   •being printed, I am certain that it contains an attempt to
   answer the question of whether or not Mrs. Langham's  and my
   article in Archives of Dermatology (1962) supports  the contention
   of Dr. Tampion and Mr. Cochran that a single particle of Pu-239
   is capable of inducing cancer and that the risk of  cancer fron
   such a particle is 1 per 1000.  We believe that these conclusions
   cannot be derived from the histopathologic observations we reported
   In this case report nor in the other cases we subsequently puiiished
   along with it in the Annals of the New York Academy of Science.

        In the petition from the Natural Resources Defense Council to
   which you refer, one can see that the authors apparently do not
   know the difference between a precancerous cellular change and a
   cancer.  While it is true that the term "precancerous change" contains
   the' implication that a cancer follows it, this  is not always the case
   because precancerous changes are reversible and reparable.  In fact
   when a lesion showing precancerous changes is renoved surgically,
   the surgeon knows from this diagnostic ir^ression given him by
   the pathologist tv»at the lesion he reooved is :.ot a cancer and that
   he 
-------
                                 -309'                                  639

Mr. Lester Rogers                   -2-           September 10, 1974
the term "precancerous" to describe the cytologic appearance of
sons of the epithelial cell nuclei around the plutonium particles
in the skin of the case in Arch.  Dermatol.  was to point•out that
in spite of tha amazingly huge dose of alpha radiation over
a period longer than 4 years a cancer had not developed and
that one could at most only call the changes pre-cancerous.
In reviewing this case in the Annals of the New York Academy
article/ we attempted to show that the strictly localized injury
caused by the plutonium particles was developing in such a
fashion (like a pimple) that the particles would have  been shed
in time along with a small amount of pus-like material as the
pimple "ripened" and drained spontaneously.  Dr. Tamplin-in
his arguments assumes that fibrosarcomas in rat skin are equate-
able with the minimal changes we described in the skin of this man.
Of course, they are- not.  The statement that it is  "clear" on the
basis of this one human case that plutonium can cause  skin
cancer in man is false.  If this case and others like  it show
something of radiobiologic importance, they show only  that the
development of cancer from plutonium exposures of human tissues
must be much more difficult to obtain than cancers  in  rodent
tissues, since no human cancers have ever been seen or reported
following plutonium exposure of human beings.  Logically, if
there is rro observed plutonium-induced human cancer case, the one
per thousand per particle level of cancer risk for  plutonium
exposkre has no basis in fact and amounts to only a conjecture
on-lthe part of the authors of the NKDC petition.
                                            C. C.  Lushbaugh, M.D ,-Ph.D

-------
 640
-  311 -
          A Critique of the Tamplin-Cochran Proposal
   for Revision of the Current Plutonium Exposure Standards
             Roy E. Albert,  M.D.
             Professor and Vice Chairman
             Institute of Environmental Medicine
             New York University Medical Center


                       March 25, 1974



Summary

     Largely on the basis of rat skin tumor experiments, Tamplin

and Cochran propose that a single radioactive particle in the

lung which delivers a local dose of more than 1000 rem per year

will produce focal tissue damage and that this focal damage per

se confers a risk of lung cancer of one in two thousand.

     A review of current knowledge about the relationship of

tissue damage to the induction of cancer does not support the

contention that tissue damage is a proximate cause of cancer;

rather that tissue damage represents a parallel toxic action of

carcinogens which, to some extent, may enhance the development

of tumors produced by carcinogens.  Since the Tamplin-Cochran

proposal is based almost wholly on radiation tumor studies of the

rat skin hair follicles, the decisive argument against this

proposal is the evidence that focal alpha irradiation of localized

regions on the hair follicle, in a pattern similar to that from

a plutonium particle, is non-tumorigenic.

The Tamplin-Cochran Proposal (1)

     The authors point out that the current ICRP occupational

exposure standard for insoluble plutonium in the air is

-------
                                                               641
4 x 10~H uCi/ml.  This is the calculated level of atmospheric

contamination that would lead to a maximum permissible lung

burden (MPLB) of 0.016 uCi and would be associated with a maximum

permissible lung dose of 15 rem/yr when the radiation dose is

averaged over the entire lung.

     They point out that the dose is not delivered uniformly to

the entire lung:

     "It would take 53,000 particles...(1 u in diameter,
0.28 pCi)—to reach the MPLB of 0.016 uCi which results in
15 rem/yr to the entire (1000 g) lung.  However...these particles
would irradiate only 3.4 g of this 1000 g to the lung, but at a
dose rate of 4000 rem/yr...these particles result in an intense
but highly localized irradiation.  A fundamental question is,
then:  is this intense but localized irradiation more or less
carcinogenic than uniform irradition?"  (ref. 1,  pg. 17).

     The Tamplin-Cochran approach to the risk assessment from

hot particles is based on the Geesaman Hypothesis (2, 3) which

in turn is based almost wholly on the radiation skin experiments

of Albert and co-workers.   The interpretation placed on these

experiments by Tamplin and Cochran and the rationale for their

proposed standard is described by the following excerpts from

their report (1).

     "A high incidence of cancer was observed after intense
local doses of radiation,  and the carcinogenesis was proportional
to the damage or disordering of a critical architectural unit
of the tissue,  the hair follicles."  (ref. 1, pg. 23).

     "Certainly a reasonable interpretation of these experimental
results is:  when a critical architectural unit of a tissue
(e.g., a hair follicle)  is irradiated at a sufficiently high
dosage, the chance of it becoming cancerous is approximately

-------
    642
                               - 313 -
10~3 to 10~4.  This has become known as the Geesaman hypothesis."
(ref. 1, pg. 26) .

     "Geesaman indicates that the tissue repair time in the lung
is of the order of one year.  It therefore seems appropriate,
but not necessarily conservative, to accept as guidance that
this enhanced cancer risk occurs when particles irradiate the
surrounding lung tissue at a dose rate of 1000 rem/yr or more."
(ref. 1, pg. 33).

     "As seen from Table IV, using Geesaman1s lung model, a
particle with an alpha activity between 0.02 pCi and 0.14 pCi
is required to give a dose of 1000 rem/yr to irradiated lung
tissue.  For purposes of establishing a maximum permissible lung
particle burden we will use 0.07 pCi from long half-lived
(greater than one year) isotopes as the limiting alpha activity
to qualify as a hot particle."  (ref. 1, pg. 34).

     "The existing standards for uniform radiation exposure of
the whole body or lung can be used as the basis for establishing
particle exposure standards by equating the risk of cancer
induction between the two types of exposure (uniform vs. grossly
non-uniform).  The most recent assessment of the risk associated
with uniform irradiation of man was performed by the NAS-NRC
Advisory Committee on the Biological Effects of Radiation.
Their report, published in 1972, is referred to as the BEIR
Report.

     The existing occupational exposure standard for uniform
whole body irradiation is 5 rem/yr and for the lung, 15 rem/yr.
The BEIR Report estimates that exposure of the whole body of an
individual to 5 rem/yr would le\d to a cancer risk between
4.5 x 10~4 and 2.3 x 10~3/yr.  Their best estimate is 10~3/yr."
(ref. 1, pgs. 41-42).

     "It is recommended here that the best estimate of the
effects of uniform exposure by the BEIR Committee be used
together with a risk of cancer induction of 1/2000 per hot
particle in determining the MPLPB for insoluble alpha-emitting
radionuclides in hot particles.  This is a somewhat arbitrary
compromise and is not the most conservative value that could
be recommended.  Thus, the recommended MPLPB for occupational
exposure from hot particles of alpha-emitting radionuclides in
the deep respiratory zone is 2 particles.  This corresponds to
a MPLB of 0.14 pCi and represents a reduction of 115,000 in the
existing MPLB."  (ref. 1, pgs. 43-44).

-------
                               -  314 -
                                                                 643


Differences Between the Tamplin-Cochran Proposal and the Geesaman
Hypothesis

     Whether intentional or not there is a subtle but important

difference between Geesaman's hypothesis and the Tamplin-Cochran

proposal.  The pertinent portion of Geesaman's conclusion is the

following:

     "Tissue injury and disturbance are a primary consequence
of intense radiation insult,  and are observed in association with
carcinogenesis.  Albert has exhibited a simple proportionality
between skin carcinomas and atrophied hair follicles.  No general
description of precarcinogenic injury exists,  but in a crude
sense the available observations are compatible with the idea
of an injury-mediated carcinogenesis.   Cancer is a frequent
instability of tissue.  Since tissue is more than an aggregate
of cells, and has a structural and functional unity of its own,
it would not be surprising if some disrupted local integrity,
a disturbed ordering, comprises a primary pathway of carcinogenesis.
The induction of sarcomas with inert discs of Mylar, cellophane,
Teflon and Millipore (Brues et al.) is indicative that such a
mechanism exists."   (ref. 3,  pgs. 6-7).

     Geesaman is saying that ''...some disrupted local integrity,

a disturbed ordering, comprises a primary pathway of carcinogenesis."

This ireans that it is not the radiation but rather the tissue

damage which is the proximate cause of cancer.

     Tamplin and Cochran blur the issue by saying:  "Certainly
a reasonable interpretation of these experimental results is:
when a critical architectural unit of a tissue (e.g., a hair
follicle) is irradiated at a sufficiently high dosage, the chance
of it becoming cancerous is approximately 10~3 to 10~4 .  This
has become known as the Geesaman hypothesis."   Taken literally,
Tamplin and Cochran do not require that tissue damage be produced,
only that the "...critical architectural unit is irradiated at
a sufficiently high dosage..."

     The Tamplin-Cochran proposal is evaluated here from two
standpoints:   (1)  the Geesaman hypothesis,  i.e.,  does tissue

-------
     644
damage, per se cause cancer?  (2)  The Tamplin-Cochran interpretation



of the Geesaman hypothesis, i.e.,  would intense irradiation of



a "critical architectural unit"  cause tumors,  regardless of



whether damage was produced?



The Theory that Tissue Damage Causes Cancer



     The Geesaman hypothesis, on which the Tamplin-Cochran



proposal is based, revives one of the oldest theories of cancer,




namely that the cause of cancer is chronic tissue damage.  This



is the chronic irritation theory propounded by Virchow in 1863.



As reviewed by Oberling (4) , the theory was in vogue for about



50 years.  It stemmed from the early clinical  observations that



cancer rarely appears in healthy tissue and is almost always



preceded by chronic inflammatory conditions such as scars,



ulcerations or fistulas.  Post-mortem observations in this era




suggested that the same association applies to internal organs.



     Virchow pointed out that every injury of  tissues is followed



by a state of irritation in which the cells are stimulated to



multiply in order that the damage may be repaired.  If the



noxious influence persists, the irritation persists with it and



the proliferation grows more and more excessive and irregular.



Virchow argued that if such a condition persists year after




year, cancer will occur.



     The Virchow theory claimed that chronic irritation was the

-------
                                                              645
sole and non-specific cause of cancer, i.e., cancer was the



secondary outcome of a whole series of conditions widely



differing from one another and possessing no features in common



except chronic damage.



     As pointed out in a review by Berenblum (5), Virchow's



theory was demolished by experiments beginning in 1918 which



showed that cancer can be produced by very potent substances



that vary widely in their capacity to cause damage whereas many



agents which cause damage do not cause cancer.  Furthermore,



there are many conditions in humans in which tissue disorganization



and damage is a characteristic feature where no association



with cancer has been demonstrated, e.g.,  tuberculosis and



silicosis of the lung and traumatic injuries associated with



war wounds that have occurred by the millions during this



century.  The focus of cancer research long ago shifted away



from tissue damage as a cause of cancer.   Nevertheless, the



frequent association between tissue damage and cancer remains



valid for many types of human and experimental cancer but there



are other types of cancer where no association exists.



     The most probable reason for the association is that



virtually all carcinogens are highly toxic agents.  The only



outstanding exceptions are the oncogenic  RNA viruses.  There



are many examples to show that an appreciable yield of tumors

-------
     646
can be produced only at carcinogen doses which cause a large



amount of cell death in the target tissue.   This can be seen



for example in relating the doses of radiation required to



produce tumors in mouse skin (6)  to those which cause cell



death (7).   The action of chemical carcinogens and ionizing



radiation in producing the parallel effects of cell death and



neoplastic cell transformation is also evident in tissue culture



studies  (8, 9).



     There are various forms of damage produced by carcinogens



which depends mainly on the target tissue.   For example,



application of a chemical carcinogen or ionizing radiation to the



surface epidermis of the skin or the bronchial mucosa results in



cell loss followed by a hyperplastic response in which the number



of epithelial cells is much increased for long period of time.



In the bronchial epithelium the hyperplasia is also accompanied



by squamous metaplasia of mucosal cells. Another form of tissue



damage can be produced by inhaled radioactive particles which



deposit in the alveoli; such particles can  produce fibrotic



damage.  Atrophy is still another form of tissue damage as



illustrated by the damage to the hair follicles in the



irradiated rat skin.



     Although tissue damage cannot be assigned a primary causal



role in cancer induction, there are various ways in which tissue

-------
                              - 318 -
                                                               647

damage could contribute to tumor formation.  One possibility is
that the killing of a portion of cells in the target tissue has
the consequence of stimulating the survivors to proliferate in
order to restore the cell population.  There is evidence that
neoplastic transformation does not become fixed unless cell
division occurs within a relatively short period after carcinogen
exposure.  This is true for ionizing radiation (10)  and viruses
(11).  The likelihood of producing transformed cells could thus
be increased by provoking cell division particularly in a tissue
which normally has a low rate of proliferation.
     There is evidence that neoplastically transformed cells in
physical contact with normal non-transformed cells are inhibited
from proliferating (12).  Tissue injury could free transformed
cells from this type of growth restraint.
     It is possible that an area of tissue, heavily damaged by
a carcinogen, particularly with scar formation, would coistitute
an immunologically privileged site and thus interfere with
important defense mechanism against neoplastically transformed
cells (13) .
     There are several other speculative ways in which damage
could contribute to tumor formation which can be mentioned:  cell
damage might interfere with repair of carcinogen-induced DNA damage;
dedifferentiation of surviving cells in a heavily damaged organ

-------
     648                     - 319 -



could make them more susceptible  to infection by oncogenic

viruses, as with the irradiated thymus (14);  in the case of

chronic carcinogen exposure the increased cell proliferation

induced by tissue damage could make cells more susceptible to

the transforming action of a carcinogen.

     Although all of the above mechanisms for the enhancement

of carcinogen effects by various  forms of tissue damage have

some basis in scientific evidence, the degree of importance as

contributing factors has not been established.

The Effect of a "Hot Particle" Type of Irradiation Tumor Induction
in the Rat Skin

     The Tamplin-Cochran proposal uses mainly the results

obtained by the Albert-Burns radiation skin experiments to

infer alpha-particle risks in the lung.  Hence, the critical

test of their hypothesis is the question of whether a hot

particle pattern of alpha irradiation of the skin could produce

tumors.

     Two approaches were used in skin experiments.  The first

approach determined whether isolated areas of irradiated skin

gave the same yield of tumors per unit area as large-area skin

irradiations.  The focal irradiation pattern was produced by

use of sieve plates.  Low LET radiation,  such as electrons (15)

and soft X-rays (16) showed pronounced suppression of tumor

-------
                              -320-                           649








formation with sieve irradiation.  A higher LET radiation




(protons) did not show a protective effect of sieve radiation




(17).



     The second approach involved the use of irradiations at



different depths in skin.  The results of electron irradiations



with different penetrations on the induction of tumors and atrophic



follicles suggests the existence of target cells at a depth of



about 0.3 urn in the skin corresponding to the lower end of the



resting hair follicle (18).  This critical depth remains constant



even when the skin is irradiated with the hair in the growing



phase, i.e., when the follicles extend to a depth of 0.8 mm



(19).  There is a quantitative association between the incidence



of tumors and atrophic follicle for various types of ionizing



radiation, various spatial distributions of dose within the skin



and for different phases of hair growth (20).  In our view, a



plausible explanation for the experimental results is thet each



follicle has a population of stem cells at a depth of 0.3 mm



that are concerned with the production of sebaceous cells and



hair.  These stem cells constitute the most sensitive tumorigenic



cell population to ionizing radiation in the rat skin.  The



tumors are mainly of hair follicle origin (21).  Neoplastic




transformation of a significant number of these target cells



requires large radiation doses which in turn kills most of the

-------
    650
-  321 -
target cells and thus causes follicle atrophy.



     Since the radiation from alphas has a range of only about



45 microns from a plutonium particle, the effect of focal



irradiation at different levels of the hair follicle is a



crucial test of the Tamplin-Cochran proposal.   Alpha and proton



irradiations that extend from the skin surface  to a depth of about



0.15 mm do not produce tumors (22).  This result, however, is



consistent with the existence of a target cell  population at a



depth of about 0.3 mm.  However, selective irradiation of the



lower end of the hair follicle at a depth of 0.3 mm by use of



the Bragg peak from an alpha beam did not produce tumors or



atrophic follicles unless there was substantial irradiation of



the entire follicle (22).  This observation suggests that even



though the critical cell population is located  at 0.3 mm,



that there are recovery mechanisms that block tumorigenesis



when only part of the "critical architectural unit of tissue"



is irradiated.  What these recovery processes might be is not



understood.  Nevertheless, this result does not support the



contention that a single plutonium particle positioned next to a



"critical architectural unit" such as the hair  follicle, will



produce a tumorigenic risk of the magnitude assumed by Tamplin



and Cochran.



     It might be argued that since particles can move about in

-------
                               " 322  "                           651
the lung, it is appropriate to consider the effects of a single



Plutonium particle in the skin which moves up and down and



irradiates the entire follicle.  However,  under these circumstances



it should be necessary to consider the important factor of



temporal recovery from the tumorigenic action of ionizing



radiation which has been shown by split dose experiments to be



very large for low LET radiation (23); preliminary data from an



ongoing split dose experiment suggests that recovery from proton



radiation is also very substantial (24).   Data applicable to



estimation of the recovery rates from exposure to a moving



radioactive particle are not available.  Geesaman's estimate



of a one year recovery time for radiation effects on the lung



is mere speculation.

-------
   652
- 323 -
References






 1.  Tamplin,  A.  R.  and T.  B.  Cochran.   Radiation Standards for




     Hot Particles.   A Report  on the Inadequacy of Existing



     Radiation Protection Standards Related to  Internal Exposure



     of Man to Insoluble Particles of Plutonium and Other



     Alpha-Emitting  Hot Particles.  Natural Resources  Defense



     Council,  Washington, D.C.,  1974.






 2.  Geesaman, D. P.  An Analysis of the Carcinogenic  Risk



     from an Insoluble Alpha-Emitting Aerosol Deposited in Deep



     Respiratory  Tissue.  Lawrence Radiation Laboratory,  University



     of California,  Livermore,  TID-4500, UC-48,  Feb. 1968.






 3.  Geesaman, D. P.  An Analysis of Carcinogenic Risk from an



     Insoluble Alpha-Emitting  Aerosol Deposited in Deep



     Respiratory  Tissue:  Addendum.  Lawrence Radiation Laboratory,



     University of California,  Livermore,  TID-4500,  UC-i8,



     Oct. 1968.






 4.  Oberling, C.  Riddle of Cancer, Yale University Press,



     New Haven, 1952.






 5.  Berenblum, I.  Irritation and Carcinogenesis.  Arch.



     Path. 38:233-244, (1944).

-------
                                                               653
 6.  Albert,  R. E.,  F. J. Burns and P.  Bennett.   Radiation-



     Induced Hair-Follicle Damage and Tumor Formation in Mouse



     and Rat Skin.   J. Natl. Cancer Inst.  4_9_: 1131-1137,  (1972).






 7.  Withers, H. R.    The Dose-survival Relationship for




     Irradiation of  Epithelial Cells of Mouse Skin.  Brit. J.



     Radiol.  _4£:187-194, (1967).






 8.  DiPaolo, J. A., K. Takano and N. C. Popescu.  Quantitation



     of Chemically Induced Neoplastic Transformation of



     BALB/3T3 Cloned Cell Lines.  Cancer Res.  32:2686-2695,



     (1972).






 9.  Borek, C.  In Vitro Cell Transformation by X-Rays.   Radiat.




     Res.,  (1973).   (Abst.)






10.  Sachs, L.  An Analysis of the Mechanism of Carcinogenesis



     by Polyoma Virus, Hydrocarbons, and X-Irradiation.   In:



     Moleculare Biologie des Maligner Wachstums, Springer Verlag,



     New York, 1965.






11.  Todaro,  G. J.  and H. Green.  Cell Growth and the Initiation



     of Transformation by SV40.  Proc.  Natl. Acad. Sci., U.S.



     55:302-308, (1966).

-------
  654                        -325-







12.   Sivak, A. and B. L. Van Duuren.  A Cell Culture System for




     the Assessment of Tumor-Promoting Activity.  J. Natl.



     Cancer Inst.  £4:1091-1097,  (1970).






13.   Bates, R. R.  and R. T. Prehn.  Role of the Fibrous Capsule



     in Carcinogenesis by Plastic Film.  Nature 205;303-304,



     (1965).






14.   Kaplan, H. S.  On the Etiology and Pathogene'sis of the



     Leukemias:  A Review.  Cancer Res. 14_: 535-548,  (1954).






15.   Albert, R. E., F. J. Burns and R. D. Heimbach.   Skin Damage



     and Tumor Formation from Grid and Sieve Patterns of Electron



     and Beta Radiation in the Rat.  Radiat. Res. 30;525-540,




     (1967).






16.   Unpublished data.






17.   Burns, F. J., R. E. Albert, P. Bennett and I. P. Sinclair.



     Tumor Incidence in Rat Skin After Proton Irradiation in a



     Sieve Pattern.  Radiat. Res. 5_0:181-190, (1972) .






18.   Albert, R. E., F. J. Burns and R. D. Heimbach.   The Effect



     of Penetration Depth of Electron Radiation on Skin Tumor




     formation in the Rat.  Radiat. Res. 30:515-524, (1967).

-------
                               - 326 -                            655



19.  Unpublished data.


20.  Albert, R. E., F. J. Burns and R. D. Heimbach.  The

     Association between Chronic Radiation Damage of the Hair

     Follicles and Tumor Formation in the Rat.  Radiat. Res.

     .30:590-599, (1967).


21.  Albert, R. E., M. E. Phillips, P. Bennett, F. Burns and

     R. Heimbach.  The Morpholbgy and Growth Characteristics of

     Radiation-Induced Epithelial Skin Tumors in the Rat.

     Cancer Res. ,29_: 658-668, (1969).


22.  Heimbach, R. D.,  F. J. Burns and R. E. Albert.  An Evaluation

     by Alpha-Particle Bragg Peak Radiation of the Critical

     Depth in the Rat Skin for Tumor Induction.  Radiat. Res.

     3£:332-344, (1969).


23.  Burns, F. J.,  R.  E. Albert,  I. P. Sinclair and P. Bennett.

     The Effect of Fractionation on Tumor Induction and Hair

     Follicle Damage in Rat Skin.   Radiat. Res. 53:235-240,

     (1973) .
                                                    *

24.  Unpublished data.

-------
                                   - 327"-
  656

                               WASH-1320
WASH-1320,  "A Radiobiological Assessment of the Spatial Distribution


of Radiation Dose from Inhaled Plutonium," by W. J. Bair,  C.  R.  Richmond


and B. W. Wachholz,  September 1974, was entered into the Record  as  an


integral part of the AEC Testimony.  A copy accompanies this  document.

-------
                                WASH-1320


                                   657
A Radiobiological Assessment
of the Spatial Distribution
of Radiation Dose
from Inhaled Plutonium
by W. J. Bair, C. R. Richmond,
and B. W. Wachholz
                United States Atomic Energy Commission

                            SEPTEMBER 1974
        For sale by the Superintendent of Documents, U.S. Government Printing Office
              Washington, D.C., 20402 - Price $1.10

-------

-------
                                                                                659
                            PREFACE
    This report was prepared at the request of the Division of Biomed-
ical and Environmental Research, U.S.  Atomic Energy Commission. The
authors have attempted to assemble and review the data currently avail-
able which bears upon  the problem of  uniform versus nonuniform dose
distribution in the lung. This problem has been termed the "hot particle"
question. Because the  quantity  of material available from  laboratories
and  individuals  in the  United States and  foreign countries  far exceeds
the space limitations of  this document, the  more peripheral work,  as
judged by the authors, was omitted. While a compendium of all informa-
tion relative to  the subject would  be useful, the authors elected to pre-
pare a  report of less  voluminous  dimensions, directed  specifically to  a
radiobiological assessment of the spacial distribution of plutonium  in the
lung.
    The authors requested and  received assistance from numerous indi-
viduals and/or laboratories throughout the  country in an effort to include
additional general and specific expertise in various disciplines,  as well as
to consider  as broad a  sampling of expert  opinions  as possible.
    Grateful acknowledgment is  extended  to:

        Roy Albert, M.D., New York  University
        Battelle Memorial Institute, Pacific Northwest Laboratory
        George W. Casarett, Ph.D., University of Rochester
        Marvin Goldman, Ph.D., University of  California  at Davis
        Los Alamos Scientific Laboratory
        Clarence C. Lushbaugh, M.D., Oak  Ridge Associated Universities
        Roger  O.  McClellan, D.V.M.,  and the  staff  of the  Inhalation
           Toxicology Research Institute, The Lovelace Foundation
        Harald Rossi, Ph.D., Columbia University
    Their assistance in reviewing drafts of this report, as well as their
initial  contributions, is most appreciated;  however,  the authors accept
sole  responsibility for the content of the report  and for the opinions and
the conclusions expressed herein.

     It is  hoped that the report will serve as an informative scientific
document which will provide the  reader with an overview of the applicable
human,  experimental and theoretical  evidence  to  date.  For  additional
information the  reader is  referred to the specific references provided.
                                 111

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                                                                     661
               TABLE  OF CONTENTS
                                                       Page
Summary and Conclusions	     1
 I.  Statement of the Problem	     3
                                                          •
 II.  Background  	     5
III.  Animal Studies  	     9
IV.  Human Experience 	    25
 V.  Theoretical Considerations 	    31
VI.  Bibliography 	    43

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-------
SUMMARY AND CONCLUSIONS
                                                                                            663
  1. Recognition of the  importance of spatial
distribution of  dose to  radiation  protection
practices by national and international stand-
ards setting organizations  and  the scientific
community  predates the discovery of  pluto-
nium. Continued examination of the radiobiolog-
ical aspects  of the spatial distribution of dose,
especially as regards alpha-emitting particles,
has not led to major changes in radiation pro-
tection standards. However, the problem is and
should be continually reassessed.
  2. Experimental  animal studies clearly indi-
cate that inhaled  radioactive  particles move
from the lung to other organs  and may be ex-
creted from the  body by several  mechanisms.
The experimental  data  also show  that  truly
uniform  distributions of inhaled  radionuclides
in lung seldom,  if ever,  occur. However, be-
cause of the mobility of plutonium within lung,
there is some biological  justification for  aver-
aging the radiation dose to the total tissue.
  3. Although particles  deposited in lung are
dynamic  and mobile unless trapped, i.e., in scar
tissue, experiments  have simulated the static
plutonium particle  to study the  biological ef-
fects of  truly "hot  spots" of radioactivity in
lung.  These  and other   comparative  experi-
ments  of uniform  and  nonuniform distribu-
tions of absorbed energy from radioactive par-
ticles suggest a  biological  sparing effect for
both acute and  late responses to the nonuni-
form distribution. Available experimental data
indicate that averaging the  absorbed alpha ra-
diation dose from plutonium particles in lung
is radiobiologically sound.
  4. Dosimetric   models  used  to  predict lung
tumor  probability  in animals  and  in  human
beings are biologically deficient, primarily be-
cause of the lack of the required biological  in-
formation. Also, most models  are based  on
studies  of tumor  induction  in  irradiated rat
skin and on the assumed validity of extrapolat-
ing to lung tissue. This practice  is questionable
for several reasons including the fact  that the
results  of studies with rats, i.e.,  tumor  type,
vary with rat strains and that the results of
comparable  studies  of irradiated mouse skin
have not given results identical to the rat ex-
periments. Thus, use of these models  can lead
to erroneous predictions of tumor probabilities.
  5. Consideration  of mechanisms of radiation
carcinogenesis suggests that  there has been no
change  in direction or strength  of data which
would compel departure from the  concept that
average lung dose for alpha  particles  provides
a reasonable and conservative base for protec-
tion.
  6. After thirty years experience with plu-
tonium  in laboratory and production facilities,
there is no evidence that the mean dose lung
model on  which occupational radiation protec-
tion standards  for  plutonium  are  based is
grossly  in error or leads  to hazardous prac-
tices. Currently available  data from  occupa-
tionally exposed persons indicate that  the non-
homogeneous dose  distribution from  inhaled
plutonium  does  not  result  in demonstrably
greater  risk than that assumed for a  uniform
dose distribution. Thus, empirical  considera-
tions  lead to the conclusion that  the nonuni-
form  dose distribution of  plutonium particles
in the lung is not more hazardous and may be
less hazardous than if the plutonium were uni-
formly distributed and that the mean dose lung
model is a radiobiologically sound  basis for es-
tablishment of plutonium standards.

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I.  STATEMENT  OF THE  PROBLEM
                                          665
   The  nonuniform  distribution  of  radionu-
clides and the attendant biological response of
tissues  at risk relative to the spatial distribu-
tion of the absorbed energy have been of inter-
est for many decades to  the scientific commu-
nity, particularly those individuals and groups
charged with the responsibility for derivation
of exposure  standards. Permissible limits for
the respiratory  intake of radioactive materials
are commonly calculated  on the assumption of
complete absorption of the radiation energy by
the critical organ. Further,  it is implicitly as-
sumed that there is a uniform distribution of
the energy per  gram of tissue throughout the
critical organ. This particular  situation raises
the interesting question as to the probability of
a unique hazard to the respiratory tissues for
a given amount of inhaled radioactive material
distributed in the form of small, discrete, radio-
active  particles  or aggregates as  compared
with a more homogeneous distribution. Stated
in another way:  for the same amount of radio-
active  material,  is the biological harm to the
lung greater  or  less when the energy is concen-
trated  into  very  small  tissue  volumes  than
when the energy  is absorbed  by the  entire
organ?  For  alpha and some other radiations,
the distribution of energy will be  nonuniform
and  consequently concentrated about the parti-
cles, thereby  producing intense radiation doses
to the nearby cells. For the case of nonuniform
distribution of alpha-emitting materials in the
lung, the initial  biological interaction is that of
an extremely large energy deposition in a very
small tissue  volume.  For  such situations, the
use of  the organ-mean dose  concept for radia-
tion  protection has been  seriously questioned.
  At present the recommended dose limit (oc-
cupational exposure)  for  lung is 15 rem/year;
the quantity  of 239Pu  required to  deliver this
dose equivalent rate, if one  uses the currently
accepted method of assuming homogeneous ab-
sorption of energy throughout the entire lung,
is 0.016 iJ.Ci. However, as shown in Table I, the
number of cells which  absprb the energy is a
function of the size of the particles comprising
the 0.016 />Ci. As the particle size increases
there are fewer particles  and, therefore, fewer
cells  are  irradiated  but  at progressively in-
creasing dose rates.
  The theoretical aspects of dosimetry and on-
cogenesis, results of  animal experiments, and
30 years  experience with humar  beings occu-
pationally exposed to plutonium will be exam-
ined to assess the relative hazards of nonuni-
form   and  uniform  distribution  of  alpha
radiation  in lung and other tissue.  This assess-
ment  will be applied to  an  evaluation  of the
currently accepted practice  of averaging the
radiation  dose  throughout the lung,  or other
organs as appropriate, for purposes of quanti-
tating the biological  effects of inhaled pluto-
ninum and for establishing radiation protection
standards.
                   Table I
RELATIONSHIP OF PARTICLE SIZE TO NUMBER
   OF  CELLS AT RISK FOR  A STATIC LUNG
         BURDEN OF 0.016 /»Ci ™PuO2*
Particle  Number of
diameter   particles
Activity per
  particle
Cells at
 risk
Fraction of
  lung
(Mm)
0.1
0.3
0.7
1.0

5.4x10'
2.0x10'
1.8X105
5.4X10*
(pCi)
3 XlO'4
0.01
0.08
0.3

3 XlO"
1.3X10'°
1.2X10'
3.6X10"
(%)
30
1
0.1
0.03
' Assuming static particles in a structureless human lung of uni-
 form density 0 2 g cm~3 with an  average cell volume of 10J /im'.
 Cells at rihk are taken to be those in a sphere of radius equal to
 the alpha range (200 /zm at the  assumed density)

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II.  BACKGROUND
                                                                                                667
  The  nonuniform  distribution of  radiation
dose within the body and within tissues of the
body  has  been of long  standing  interest to
those concerned with the potential  exposure of
persons to radiation, especially from  radionu-
clides. Almost every kind of  radiation  expo-
sure,  whether it be for diagnostic or therapeu-
tic  purposes,  from  accidental  occupational
exposures, from fallout radionuclides, or from
natural background radiations,  results in non-
uniform absorption of energy within the body.
In 1969, an  International Commission on  Ra-
diological  Protection  Task  Group   (ICRP,
1969)  identified  three classes  of nonuniform-
ity of dose:
      "(i) Partial irradiation of an  organ or tissue,
    where the part irradiated is representative of the
    whole organ or  tissue, as in external irradiation
    of skin or bone marrow."
      "(ii) Partial irradiation, where the part irradi-
    ated is not representative of the whole. This often
    occurs with internal emitters, such as bone-seeking
    radioactive materials in  bone, where certain loca-
    tions and  cell types are  preferentially irradiated.
    A special case of this class is irradiation by short-
    range emitters metabolically localized in structures
    which are biologically very important, for instance,
    tritiated thymidine in DNA."
      "(iii) Irradiation from radioactive materials in
    particulate form."
  This  report  will deal  with the  third  class,
which is  the common  situation  following the
deposition of radioactive  materials in the res-
piratory tract.
  The decision to  use the average  dose to the
lung* (and other organs)  has been  consistently
maintained over three decades by numerous or-
ganizations and individuals. The bodies respon-
sible  for  such recommendations have  not ig-
nored the  subject during these decades, but,
  * The average radiation dose is calculated by assum-
ing the complete and homogenous absorption of energy
throughout the entire organ. An  exception to this ap-
proach is the calculation of dose resulting from the in-
halation of radon daughters.
rather, have periodically reviewed the relevant
human and experimental  data and have main-
tained  their  position  that  nonhomogeneous
dose distribution  does not result in a demons-
trably greater risk than does uniform dose dis-
tribution. Thus, there has been recognition, if
not complete resolution,  of this problem since
the 1940's. In the early days of the Manhattan
Project, the  concern for the problem of nonuni-
form  dose  distribution led  to  studies  of ra-
dionuclides   inhaled or deposited  on  skin.  In
fact, interest in nonuniform  dose distribution
in animals and man predates the discovery of
plutonium in 1941 because of the occupational
and medical  exposures to  22<;Ra.
  At the Chalk  River Tri-Partite Conference
attended by  scientists from the United States,
the United Kingdom,  and Canada  (McMurtrie,
1950), Dr. Hamilton pointed out, in relation to
the possible  pathological  effects of radioactive
particulates  in the lungs, that cells in the im-
mediate neighborhood of a dust particle  con-
taining 1 or 2 percent of plutonium would  be
subjected to a dose  of about 400  r/day.  The
general opinion which emerged from the dis-
cussion was that  the carcinogenic effect  per
unit volume is probably  considerably less for
the irradiation of small masses of tissue than
for large.
  The National Academy of Sciences-National
Research Council  considered the question  of
nonuniform  dose distribution in  Publication
848, Effects of Inhaled  Radioactive  Particles
(NAS-NRC, 1961a).  This publication pointed
out that lung exposures are often expressed as
mean dose to the lung by calculating the  dose
assuming uniform distribution  of radioactive
material throughout  the  lung,  although  uni-
form distribution of inhaled particles is not ob-
served in practice. The report also stated  that
because local concentration of particles results
in nonuniform distribution of energy, the  dose

-------
668
delivered to small volumes of lung tissue could
vary by several orders of magnitude above and
below the mean value and, therefore, the calcu-
lated  mean dose to the  lung should be  used
with caution in estimating biological effects.
  Report 848 also contains specific discussions
of point sources and tumor production and the
then current status of the radioactive particle
hazard evaluation.  It also recognized as unre-
solved the  effect  of the spatial distribution of
the radiation on pulmonary tumorigenesis. It
was not  known whether  differences in tumor
production were due to the particular tissue in
which the  deposition occurs or to  the localiza-
tion and resulting strong  irradiation of the tis-
sue. The skin experiments, cited in Report 848,
using radioactive point  sources as compared
with flat  plates  indicated that, in the range
where extremely large doses  are  given,  with
consequent killing  of cells,  tumor production
was considerably lessened for localized sources.
The report, however, states that these experi-
ments  shed  no  light on the  localization  of
smaller quantities of materials where the dose
rate is not adequate to definitely kill the cells
within a given range of  the radioactive mate-
rial.
  The subject  of energy  distribution  also was
considered in  the  National Academy of Sci-
ences-National Research Council Report of the
Subcommittee  on  Internal  Emitters of  the
Committee on  Pathological Effects of Atomic
Radiation  (NAS-NRC,  1961b). In chapter IV,
entitled Special  Problems,  the report states
that there are good reasons  to  believe that,
when  radiation is  uniformly delivered  to tis-
sues,  the  biological  effects may  differ from
those  observed when the  radiation arises from
focal   aggregations  of   radioactive  material
(point sources)  (Marshall and Finkel, 1959,
1960). In the latter case,  dose rates close to the
point  source  would  be  different  from  those
near the end of the range of the particles with
an extremely high dose rate found near the or-
igin. The  report  notes that  spatial differences
in dose may have considerable importance if
the relationship between  biological injury and
energy absorbed is not linear.
  The NAS-NRC report  (1961b)  pointed out
that spatial  distribution  of  dose  is of signifi-
cance  when  particular  tissue  elements  are
selectively  irradiated, and insofar as  the  rela-
tion between dose and the degree  or  probabil-
ity of any  type of injury is not linear. The re-
port states that the available information  is
not adequate to define differences in hazard be-
tween focal and diffuse radiation.
  The  question  of nonuniform  dose distribu-
tion was  addressed also in the BEIR  Report
(NAS-NRC,  1972). A statement is made that
an  important issue is  whether local  or "hot
spot" radiation doses are more effective in pro-
ducing cancer of the respiratory tract as com-
pared with uniform radiation exposure to the
entire respiratory epithelium. The report cites
the work  of Grossman et al.  (1971), in which
210Po chloride was  given intratracheally either
alone or with hematite particles, as being per-
tinent to  the issue. Because polonium solution
alone was as effective as polonium given with
hematite,   the authors  of  the  BEIR  Report
thought that it may be  inferred that a higher
localized  dose from  alpha particles was  not
more carcinogenic  than  the same  mean tissue
dose delivered more uniformly to critical cells.
  The  1971 report of the National Council on
Radiation  Protection and  Measurements, enti-
tled  Basic  Radiation   Protection  Criteria
(NCRP, 1971),  contains a concept of "signifi-
cant volume" over  which radiation dose should
be averaged. The report states:
     "Simplifications in practice  hinge  largely on re-
    porting a single representative protection dose for
    a limiting organ system even when the actual irra-
    diation is grossly  non-uniform. The  representative
    dose is taken as the highest that can  be obtained by
    averaging over a prescribed significant volume. The
    implication of  this concept, or at least the conven-
    tion  that is followed, is that any redistribution of
    a given dose within such a volume does  not ma-
    terially alter the  radiation response. It is usually
    assumed that the  'significant  volume' should be of
    the order  of one cubic centimeter.  This will be
    grossly conservative under most circumstances, and
    in special  situations use  of  a larger volume is
    justified."
  As indicated in the NCRP report, there are
some cases in which choice of significant  vol-
umes or areas are virtually  meaningless.  For
example, the averaging of dose over the entire
lung or over one cubic centimeter may have  lit-
tle  meaning if a single  radioactive particle in
the lung or lymph node can be carcinogenic.
  The ICRP  periodically  has addressed  this
subject   of  nonuniform   dose   distribution,
usually by special groups commissioned by the
ICRP to study the question.  In its Publication
9 (ICRP, 1966),  the ICRP pointed out that for
the  case  of  nonhomogeneous  distribution of
absorbed  dose in the lung, an estimate of the

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                                                                                                669
Dose  Equivalent to the whole lung as  deter-
mined merely  by the product  of QF  and the
mean absorbed dose might be greatly  in error
but full understanding of this problem  must
await further  experimental evidence.  The  re-
port indicated  that there was no clear  evidence
to show whether, for a given  mean absorbed
dose, the biological risk associated with a non-
homogeneous   distribution  is  greater or  less
than  the risk  resulting from  a more diffuse
distribution of  that dose in the lung.
  The authors of  the  ICRP report point out
that the problems  of high local  concentration
of dose are most severe for radioactive parti-
cles, especially alpha-emitters,  in tissue  where
the local dose  can  reach very high levels even
though  the mean tissue dose may be very low.
They state that one cannot assume that linear-
ity of radiation dose and effect  will hold at
these high doses and dose rates yet there may
be a great deal  of cell death,  particularly for
the short well-defined range of alpha particle
irradiation, and the number  of  affected but
viable cells may  be small as compared  with the
number of killed  cells.
  The report (ICRP, 1966) states:
      "On the basis of general considerations and of
    some experimental data and clinical experience the
    Task Group were of the  opinion that, for late
    effects, the same radiation energy absorption might
    well be less effective when  distributed as  a series of
    'hot  spots' than when uniformly distributed. Thus,
    with particulate radioactive sources within a tissue,
    a mean tissue dose would probably introduce a fac-
    tor of safety. However, a  severe practical problem
    has  now been  recognized in connection with  the
    inhalation of plutonium participates, and is now
    being considered  in detail by  a  Task  Group of
    Committee 1  of ICRP."                    '
  Current  radiation  protection  standards for
limiting radiation dose to the lung from inter-
nally deposited  radioactive materials continue
to be based upon our collecting knowledge of
the effects of radiation on the  lung. Calcula-
tions of the average dose to lung tissue as a
correlative step between biological effects and
a quantity of radionuclides have been based on
the assumption  that  the absorption  of energy
is uniform throughout the mass of tissue. It is
well known that this situation does  not exist
for  "insoluble"  radionuclides  which  can pro-
duce  focal  spots  of  high  levels  of  radiation
close to the particle,  with the level decreasing
with  distance in a  pattern depending upon the
quality and energy of the radiation.  Also well
known is the fact that  postulated  cases of uni-
form distribution of energy for "soluble" radio-
active materials seldom, if ever,  occur.
   Since the opinions of the standard  setting
bodies were expressed, additional data have ac-
cumulated which bear on the problem and will
be  discussed in the  sections to follow. While
the question of nonuniformity of dose cannot
be  answered  unequivocally,  these  new data
tend to support the conclusion expressed by the
ICRP Task Group  (ICRP, 1969)  that for radio-
active particles  "a  mean  tissue dose  would
probably introduce a factor of safety."
   Thus, it  is clear that nonuniform distribu-
tion of radiation dose has been  examined con-
tinually by national and international standard
setting bodies.  The  fact that these  organiza-
tions  have  not   changed  or   recommended
changes in the procedures used for calculating
dose to the lung as the result of their delibera-
tions is an indication of implicit guidance on
this particular problem.

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III. ANIMAL  STUDIES
                                                                                           671
  The disposition and biological effects of in-
haled plutonium  and other radionuclides have
been reviewed recently (Buldakov et al., 1969;
Sanders  et al., 1970;  Bair et  al., 1973; Bair,
1974; Healy,  1974). Therefore, attention will be
given only to those experimental data relevant
to spatial distribution of radiation  dose from
inhaled radionuclides.
A.  Retention of Plutonium  in Lung

  Airborne radioactive particles are similar to
most other particles when they are inhaled in
that deposition in the respiratory tract is pri-
marily dependent upon the physical properties
of the particles and the respiratory character-
istics of the individual inhaling the particles.
The ICRP  Task  Group on  Lung Dynamics
(Morrow et al., 1966) dealt with the deposition
of particles in the  respiratory tract in consid-
erable detail.
  Within the first week after exposure, a frac-
tion of the deposited plutonium is cleared from
the respiratory tract and excreted. The amount
of plutonium cleared depends upon the fraction
of readily solubilized material present and  the
distribution of the  plutonium within the respi-
ratory tract. Plutonium deposited upon the  cil-
iated epithelium of the upper respiratory tract
may be trapped in mucus and transported to
the esophagus  and swallowed.  Plutonium  de-
posited in the lower regions  of the lung is  not
readily  available for clearance and may be  in-
corporated into the cellular structures  of  the
lung and retained for a long time.
  The kinetics of  the  clearance of plutonium
from  lung  are complicated  and  difficult  to
quantitate. Because the clearance of plutonium
from the lower lung appears to be exponential
with time over a reasonably long period after
exposure, retention half-times  are estimated.
Animal experiments  and  limited  human data
provide a  range of values for  the  retention
half-times  of several  plutonium  compounds,
Figure III-l. The retention half-times for or-
ganic complexes of plutonium, plutonium ni-
trate  and plutonium  fluoride  range from less
than  100 days  to about 300 days  in rats and
dogs.  The  retention half-times for PuO!2 are
substantially longer, ranging  from 200 to 500
days in rats, 300 to 1000 days in dogs and 250
to 300 days in  human beings. The wide range
of values for dogs  is largely  due to extensive
experimentation  with  a variety  of plutonium
oxides with different physical characteristics.
For example, Pu02 calcined at high tempera-
tures  is cleared more slowly than air oxidized
plutonium;  Pu02 comprised of large particles
(~ 3 i+m  AMAD) tend to  be  cleared  more
slowly than aerosols of small  particles (—/ 0.1
/<.m AMAD); and 238Pu02 has a  much  shorter
lung retention time than 239Pu02. The relative-
ly low value for human beings, compared with
dogs,  suggests  either that  man clears pluto-
nium  particles  from his lung  faster than dogs
do or that  the materials inhaled  in the human

RETENTION OF PLUTONIUM IN PULMONARY REGION OF LUNG
               ANIMAL
 ISOTOPE COMPOUND   SPECIES
                        200   400   (00   BOO

                        LUNG RETENTION HALFTIME (DAYS!
Figure  III-l.—Retention of Plutonium in Pulmonary
  Region of Lung. Ranges  of published values for re-
  tention half-times are indicated for each animal spe-
  cies and plutonium compound (Bair, in press).

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   672
accident cases, from which these data were ob-
tained, were more soluble than plutonium diox-
ide.
  Plutonium appears  to be retained  in  the
lower respiratory tract longer than most other
materials  that  have  been  studied.  Thorium
dioxide and ruthenium dioxide  show  retention
half-times  comparable to those  observed  for
plutonium. Uranium-oxide,  cerium oxide and
other metal oxides are  retained at half-times of
less than  200 days, some less than 100 days.
The  reason for the relatively  long  retention
time of plutonium  is not known,  but may  be
due to its  low solubility in tissue fluids, chemi-
cal binding with proteins and  other  constitu-
ents  of lung, and the cytotoxic action of the
emitted alpha radiation.

B.  Spatial  Distribution  of  Plutonium  Within
    Lung

  From the moment plutonium is deposited in
the respiratory  tract,  biological  and physical
forces are at work  to cause  the removal of the
plutonium. That these forces are not as effec-
tive for plutonium  as  for other inhaled mate-
rial is indicated  by the  relatively  long reten-
tion   half-times   observed  for   plutonium.
Particles deposited  in  alveolar  spaces may  be
cleared via the lymphatic system,  mucociliary
pathway of the  tracheobronchial tree, or  by
dissolution and absorption into blood. With  all
of these processes at work removing plutonium
from  lung, although at low  rates, it is difficult
to  visualize   plutonium   remaining   static
throughout  its  residence  time  in the lung.
Techniques have not been developed to docu-
ment  the course of  individual particles and ag-
gregates of plutonium in lung. However, the
temporal and spatial  characteristics  of pluto-
nium  within tissues can be inferred from auto-
radiographs of tissue  sections  prepared from
animals exposed to plutonium aerosols.
  The first observation is that plutonium and
especially  insoluble plutonium compounds are
nonuniformly deposited throughout lung. Fur-
ther,  plutonium may deposit unequally among
the lung lobes or among portions of lung lobes.
Deposition of plutonium following inhalation,
however, is more uniform than after intratra-
cheal   injection—an   experimental  technique
often  used when  exposure of animals to pluto-
nium  aerosols is not feasible. Studies of  inhaled
plutonium nitrate in both rats and dogs show
that immediately following the inhalation ex-
posure, plutonium is present in  both particu-
late  and nonparticulate forms (Koshurnikova
et al.,  1971; Sanders et al., 1971;  Ballou and
Park,  1972;  Lafuma, 1974),  as  evidenced by
the presence of alpha stars and single tracks in
auto radiographs,  Figure   III-2.  Autoradio-
graphs from dogs exposed to inhaled  239Pu02
show an initial relatively  diffuse distribution
of  plutonium   throughout  the  entire  lung
(Clarke et cd., 1966).
  Plutonium not  rapidly  removed from the
respiratory  tract by the mucociliary pathway
or by  absorption  into the  blood, may be en-
gulfed by macrophages. Phagocytosis of parti-
cles  deposited  on the non-ciliated epithelium
distal to the terminal bronchioles and in the al-
veoli  usually occurs /very  rapidly  (Sanders,
1969). The  alveoli of the lung contain reticu-
loendothelial cells derived  in  part from circu-
lating   monocytes.   These  reticuloendothelial
cells consist of mononuclear  cells  and histio-
cytes within the septal walls and alveolar mac-
rophages in the air spaces, all of which are ca-
pable of phagocytizing plutonium.
  Phagocytized plutonium particles are rapidly
localized    in    the    phagolysosomes    of
reticuloendothelial  cells  (Sanders  and Adee,
1970).  While  the  mechanism is  not known
(Casarett and  Milley, 1964), the alveolar mac-
rophage appears to be capable of transporting
plutonium from the alveoli to the ciliated epi-
thelium of  the bronchioles. These phagocytic
cells containing plutonium  particles and aggre-
gates can then be  removed from the lung in
the mucous blanket which is propelled up the
respiratory  passage  by  ciliary  action.  This
mechanism  of  clearing plutonium from the
lung is important early after an  inhalation ex-
posure and apparently continues  to  function
long afterward, as  evidenced by the appear-
ance of macrophages containing plutonium in
lung lavage fluid at long times after exposure
(Sanders and Adee, 1968), and by the contin-
ued appearance of plutonium in feces, although
the latter is only circumstantial evidence.
  Both soluble and insoluble plutonium not im-
mediately cleared from  the lung tend to be-
come  further  aggregated.  This  mobility and
aggregation  of plutonium  may have large ef-
fects on the temporal and spatial  distribution
of the alpha radiation dose. A few days after
inhalation  of plutonium nitrate, single tracks
in  autoradiographs  decrease,  Figure  III-3,
                                             10

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Figure III-2.—Autoradiograph of lung section from dog
  1 day after inhalation of 239Pu(NO3)4. 320X. (Pro-
  vided by J. E. Ballou, Battelle-Northwest).

                                                                                                    673
Figure III-4.—Autoradiograph of lung section from dog
  several weeks after inhaling 2-"9Pu(NO3)4. 120X. (Pro-
  vided by J. E. Ballou, Battelle-Northwest).
Figure IH-3.—Autoradiograph of lung from  dog  14
  days after inhalation of 239Pu(NO.04. 320X. (Provided
  by J. E. Ballou, Battelle-Northwest).
and  after several weeks nearly all  of  the plu-
tonium  appears  to  be  aggregated,   Figure
III-4. It is not known whether this represents
continued aggregation,  perhaps  by  chemical
binding,  of  the  plutonium  in the  lung or
whether  aggregation only  appears to be in-
creased as the non-aggregated plutonium is ab-
sorbed into the blood and thus disappears from
the lung leaving only the aggregates.
  Plutonium particles,  and to  a  lesser extent
aggregates  of  soluble  plutonium,  are trans-
ported to  thoracic lymph nodes.  Clearance of
particles to  lymph nodes occurs via lymphatic
vessels in  the thorax  that  drain  interstitial
spaces. Particles either penetrate the  intersti-
tium directly or gain access  by transport in
phagocytic cells  (Morrow and  Casarett,  1961;
Casarett  and Milley,  1964).  Autoradiographs
Figure III-5.—Autoradiograph of lung section from dog
  several months after inhalation of 23<
-------
674
                               Erratum Sheet For

                 "A Radiobiological Assessment  of  the  Spatial
            Distribution of Radiation Dose from Inhaled Plutonium"
                                  (WASH-1320)
   Please note that there is an error in the second  sentence  in column
   2 on page 12.

   The sentence now reads:

   In experimental however, it is  not known whether  the plutonium can be
   found in the circulating blood;  however, it is  not  know whether the
   plutonium has  been absorbed from the lung directly  or reabsorbed from
   liver or bone  to which the plutonium had Been translocated previously
   from the lung.

   The sentence should read as follows:

   In experimental animals  at long times after exposure, plutonium can be
   found in the circulating blood;  however, it is  not  known whether the
   plutonium has  been absorbed from the lung directly  or reabsorbed from
   liver or bone  to which the plutonium had been translocated previously
   from the lung.

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                                                                                            675
of lung tissues taken from  dogs several weeks
and  months after inhalation  of  Pu02  show
alpha stars concentrated in subpleural areas,
apparently in lymphatic vessels, Figure 111-5.
Autoradiographs also suggest that some plu-
tonium  particles become immobilized  in  scar
tissue in subpleural areas. Plutonium particles
transported to lymph nodes  are deposited  in
lymphatic  sinuses  of  subcapsular  and medul-
lary areas. The  particles  eventually  appear
sequestered in  "hot spots"  of scar tissue and
do not appear to be mobile. The residence time
for plutonium  in lymph  nodes appears to  be
very long;  there is  no direct evidence for clear-
ance of inhaled plutonium  particles from tho-
racic  lymph nodes although clearance  of plu-
tonium  from  cervical  lymph  nodes  of   dogs
after  subcutaneous  injection  (Lebel  et  al.,
1972)  and  from  mesenteric  lymph nodes  of
rats after  intraperitoneal injection  (Sanders,
1974) has been reported.
  Plutonium particles not phagocytized by al-
veolar macrophages and removed by the muco-
ciliary pathway or  transported to the lymphat-
ics  can  be found in Type I alveolar epithelial
cells  and  in  peribronchiolar  vascular areas,
Figure  III-6. There  is autoradiographic evi-
dence of particles  being immobilized  in  scar
tissue  in  the   alveolar  and  peribronchiolar
areas. Although Type I alveolar epithelial cells
phagocytize  plutonium  particles  rapidly—
within a few hours after deposition (Sanders
and Adee, 1970), the fate of particles phagocy-
tized by these cells is not known.  The Type I
cells do appear to  be  relatively radioresistant
to alpha irradiation (Sanders  et al., 1971).  It
is possible  that plutonium particles, other than
those  in lymphatics or trapped in  scar tissue,
retained in the  lung for long  periods,  are cy-
cled through generations of Type I or other
cells.
  Type  II  alveolar epithelial  cells, or  the so-
called "granular pneumonocytes," do not phag-
ocytize  plutonium  particles  (Sanders  et al.,
1971) and, thus, do not appear to be directly
involved in clearance of plutonium from  lung.
  The  intracellular localization  of plutonium
particles within  pulmonary macrophages has
been  demonstrated by  autoradiography  of
smears  from pulmonary lavage fluid  and  of
lung sections (Sanders, 1969).  Lesions in mac-
rophages have  been observed  as early as one
hour after phagocytosis of large  amounts of
plutonium.
  There is much  experimental evidence  for
the absorption of plutonium into the blood al-
most  immediately  after deposition  of soluble
and even "insoluble" plutonium compounds in
the respiratory tract  (Bair and McClanahan,
1961; Bair and Willard, 1961). In experimental
however,  it is not known  whether  the pluto-
nium can  be  found in the  circulating  blood;
however,  it is  not know  whether  the pluto-
nium has been absorbed from the lung directly
or reabsorbed from liver or bone to which  the
plutonium  had been  translocated  previously
from  the lung. Plutonium  is also continuously
excreted in urine after an  inhalation exposure.
Again it is not known whether the origin is
the lung directly or the  secondary liver and
bone  pools. Mercer  (1967)  suggested that dis-
solution of plutonium particles deposited in  the
deep alveolar  lung  region was the major path-
way for clearence and that dissolution  rates
were  directly  proportional to the surface area
of the particles and their chemical composition.
It seems certain that dissolution of plutonium
particles  and  aggregates  does occur  in  the
lung,  although at low rates, and accounts  for
at least some of the mobility of plutonium in
the lung as well as clearance from the lung.
  Although the kinetics are unknown and even
a qualitative description is still rather  primi-
tive,  there is ample evidence  that  plutonium
deposited in lung is subjected to biological and
physical forces. This argues against either par-
ticles or aggregates of plutonium  remaining
static indefinitely,  except   for the  plutonium
that becomes immobilized in scar tissue. To  the
contrary,  while the rates  may be  low,  move-
ment  of plutonium  within lung tissues, by sev-
eral mechanisms, certainly  occurs, as the lung
attempts to expel the plutonium and other for-
eign   material.  The migration  of  deposited
plutonium particles in lung is recognized in  the
USSR as at least  partially compensating  for
the nonuniformity of the  radiation exposure
from  plutonium particles and justifying accep-
tance of the concept of averaging the radiation
dose over the entire lung mass (Zalmanzon and
Chutkin, 1971).


C.  Pulmonary Neoplasia

  High  doses  of inhaled plutonium  in  experi-
mental animals  have been  shown to cause  se-
vere   radiation   pneumonitis   and  fibrosis
resulting in early  death due to respiratory  in-
                                             12

-------
  676
sufficiency  (Bair et al., 1973). Lymphopenia is
the earliest response seen in animals after in-
halation of Pu02 and has been observed in dogs
with total lung deposition of 0.08 /uCi (Park et
al., 1974).  Cancer is a potential long-term re-
sponse to plutonium in the body and has been
observed in experimental animals to occur  in
lung,  bone and liver, all  of  which are major
repositories of plutonium deposited in the res-
piratory  tract  (Bair,  1974). However, lung
cancer is the biological  response of most rele-
vance to this discussion  of the spatial distribu-
tion of radiation dose from inhaled plutonium.
  Experimental   data   on  plutonium-induced
lung cancer are summarized in Table III-A.  In
rats exposed to ammonium plutonium  penta-
carbonate or plutonium  citrate, the incidence
of  pulmonary  neoplasia  was about  10%  at
doses of the order of 0.01 /iCi/g of lung, and
above 30%  at 0.015 to  0.026 /iCi/g lung. The
lung tumors were squamous cell  carcinomas,
adenocarcinomas,   and   hemangiosarcomas.
Sixty to 100%  of the animals in the range  of
doses studied (40 to 7320 rads) developed pul-
monary sclerosis. The  maximum incidence  of
malignant  neoplasms in the lungs (30-47%)
was observed at an absorbed dose of 500-1000
rads.  Studies with  soluble plutonium in dogs
have been concerned with acute effects and no
tumors  have  been  reported.  Plutonium-239
oxide caused pulmonary  neoplasia in  mice
given doses by intratracheal  injection ranging
from 0.02 to 1.0 ^Ci/gram lung  (Wager et al.,
1956; Temple et  al., 1959,  1960).  One tumor
was seen in a mouse that inhaled about 0.25^Ci
2V>PuOj per gram lung (Bair, 1960). In a larger
study with nearly 800 mice that inhaled about
0.1 to 2 nCi per gram (Bair et al., 1962), there
was no shortening of life-span and no evidence
of pulmonary neoplasia  in the animals avail-
able for histopathological examination. Rats
showed  a  50%  tumor  incidence  at  inhaled
(through  a glass tube  inserted into  the  tra-
chea) -''"PuO, doses of about 0.2 jnCi/gram lung
(Lisco, 1959). These tumors were  epidermoid
carcinomas, adenocarcinomas, and hemangioen-
dotheliomas.  No  primary tumors  of  thoracic
lymph nodes were seen in any of the rodent ex-
periments.
  In beagle dogs given  a 10-30 minute expo-
sure to  -'-!''Pu02, deposition  of  more than  0.1
fiCi/g lung caused death  within about a year
due to respiratory  insufficiency (Park  et al.,
1972). Thirty dogs died between  55  and 412
days  postexposure  due to  plutonium-induced
pulmonary edema, fibrosis, and bronchiolar and
alveolar epithelial hyperplasia and metaplasia.
The subsequent severe respiratory insufficiency
was characterized by progressive hypercapnia
and hypoxia. In  another  experiment with 40
dogs,  32 died or were  sacrificed when death
was imminent.  Five were sacrificed  for study
of plutonium distribution in tissues.  Of the 32
deaths, 30 were due to plutonium-induced pul-
monary fibrosis and/or neoplasia. The three re-
maining dogs have died  and all grossly showed
lung tumors; however, the histopathology and
radiochemistry  results  are  incomplete (Park
and Bair, 1974). Twenty-four dogs had pulmo-
nary neoplasia in  addition to fibrotic  and meta-
plastic  lesions,  Figure  III-7.  The survival
times of these dogs are plotted as a function of
the estimated amount of plutonium initially de-
posited in the alveolar regions  of the lungs of
the dogs, expressed as nCi/g of blood-free lung.
The curve  was fitted to all the data by least
squares analyses  to describe the relationship
between quantity of plutonium  deposited and
the time of  death due to pulmonary neoplasia
and/or pulmonary fibrosis-induced respiratory
insufficiency. Another curve was fitted to  just
the pulmonary  neoplasia data points by least
squares analyses. In these  dogs the develop-
ment  and  growth of the pulmonary  neoplasms
were  followed  radiographically.  In  all  cases
tumors appeared  to originate in the  periphery
of the lung, the location of  most of  the pluto-
nium. This  observation  is consistent with  the
histopathology which showed that the predomi-
nant tumor  type  was bronchiolar-alveolar car-
cinoma. Epidermoid tumors similar to those
generally  attributed  to   cigarette   smoking
and/or exposure to  radon daughters  as in  ura-
nium  miners, were incidental findings in a few
dogs which also had  bronchiolar-alveolar carci-
noma (Howard,  1970). The estimated initial
alveolar  deposition   in  the  dogs with pluto-
nium-induced pulmonary neoplasia was 0.2 to
3.3 i^Ci or 3 to  45 ^Ci/gram of bloodless lung.
Metastasis occurred to  thoracic  lymph nodes
and to many systemic organs.
  In  addition to  bronchiolar-alveolar  carcino-
mas,  other  types of tumors were  incidental
findings in  several  dogs. Two  dogs  developed
benign-appearing tumors of endothelial origin
which were  classified as hemangiomas. Tho-
racic  lymph nodes,  as well as a few hepatic
                                            13

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                                                                                                           677
                                                Table III-A
                 PLUTONIUM-INDUCED  LUNG  CANCER IN EXPERIMENTAL ANIMALS
Deposited

Compound
=J9Pu
Citiate









2]»pu
Ammonium
Plutonium
Penta-
carbonate





-•i»Pu
Pu(NOs).








Animal
species
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat
Rat

No. of
animals
268
167
124
203
31
105
113
39
90
12
20
48
101
91
126
83
126
22
65
23
11
42
80
17
22
88
69
62
108
86

Exposure •
method*
Control
Inhal.
Inhal.
Inhal
Inhal.
Inhal.
Inhal.
Inhal
Inhal.
Inhal.
Inhal
Inhal.
Inhal.
Inhal
Inhal
Inhal
Inhal.
Inhal
Inhal.
Inhal
Inhal
in lungs
(ftCi)
	
0 008
0.02
0 04
0.08
0.16
0 25
0.36
0.51
0.80
1 03
0 004
0.007
0.017
0 045
0.16
0 26
0.35
0.46
0 77
1.46
1/iCi/g)
	
0.0026
0 0067
0.013
0.026
0.060
0 08
0.12
0 17
0.26
0.34
0.0013
0.0023
0.0057
0.016
0 05
0.08
0.12
0 15
0 26
0.48
Dose to
(rads)
—
47
117
234
467
852
1390
1740
2370
3090
3820
41
80
186
497
1065
1616
2140
2780
3900
7320
I T.(HNOjl - —
I.T.
I.T.
I.T.
I T
I.T.
I T
I T.
I T.
0 00042
0 0042
0.01
0.03 1
0 048
(I 1
0 42
1 0
0 00014
0.0014
0.003
0.01
0 016
0 03
0.14
0.3
2.7
28
62.5
205
318
622
2760
6960
Mean
time (days)
670
635
586
545
546
464
416
221
124
69
64
571
571
584
582
484
361
247
139
78
77
686
541
755
793
592
704
589
426
330
± 8
± 3
± 12
-t- 11
± 22
± 12
± 12
± 13
± 9
-f- ~,
± 2
± 21
± 16
+ 12
± 11
± 14
+ 11
± 21
+ 10
± 7
± 6
± 20








Lung tumor
incidence
No.
1
11
3
17
11
27
27
3
2
0
0
2
7
12
48
38
31
2
3
0
0

2
1
2
4
7
12
33
19
%
0.39
7.1
2 5
8 4
35 5
25 7
24
7 7
2.2
0
0
4 2
7
13 2
38
45.9
24.6
9.0
4 6
0
0

2.5
5.9
9.9
8.16
17.5
18.9
33
24 2
Tumor type
Squamous cell
cancer, adeno-
carcmoma, and
hemangiosarcoma







Squamous cell
cancer, adeno-
carcinoma, and
hemangiosarcoma






Squamous cell
cancer, adeno-
carcinoma, and
hemangiosarcoma

(Incidence calcu-
lated on animals
at risk)

Reference
Koshurnikova,
Lemberg, and
Lyubchansky,
1971







Kobhui nikova,
Lemberg. and
Lyubchansky,
1971






Erokhin,
Koshurnikova,
Lemberg,
Nifatov, and
Puzyrev. 1971




                    48
                         I T
                                                                       19   39.6
Plutonyl
Triacetate
SQuamous cell
cancer, adeno-
carcmoma, and
hemangiosarcoma
Erokhin,
Koshurnikova,
Lemberg,
Nifatov, and
Puzyrev, 1971
J3»pu
Ammonium
Plutonium-
Penta-
cai bonate
=J"Pu
Pu(N03U


Rabbit
Rabbit
Rabbit
Rabbit

Rabbit
Rabbit


8
13+
18+
20+

12
13


Inhal
Inhal
Inhal.
Inhal.

I T.
I.T


0
0.02
0.17
0.50

0.65
2.38


0
120
1010
2960

3840
13960


1431.5 ±
926.4 +
673 9 ±
631.5 ±

665 7 ±
428 2 ±


201
96 8
74 8
61.5

53 6
31 2


- - — Malignant
--
' 18 7
1 6.0

7 68.3 Malignant
3 23.0


Koshui nikova,
Ijemberg, and
Lyubchansky,
1971

Koshurnikova,
Lemberg, and
Lyubchansky,
1971
'»PuOj Mouse

Mouse

Mouse

Mouse

'"PuOj Rat

'"PuOj Dog
Dog
Dosr
Dog
"PuO; Rat
Rat
Rat
Rat
• Inhal. - Inhaled: I.T
21

17

41

73

—

8
13
6
5
92
30
30
32
—
I.T.

I T.

I T.

Inhal.

I T.

Inhal
Inhal
Inhal
Inhal
Inhal
lnh.il
Inhal
Inhal
intratracheal
0.003

0.06

0 16

0 1

0 2-1

0 6
1.3
2
3 1
0
0.005
0 018
0 2
injection
0 008

0 15

0 4

0 25

—

0071 ± 0026
.0147 + 0029
.0229 + 0021
.0392 ± .0032
0
0 002
0.0072
0.092

115

2300

4000

—



1230
2086
2498
4094
0
9
32
375

600

400

100

600 +

>250

2922 + 732
1992 ±_ 437
1.139 ± 388
1094 ± 236
825
(.50
675
550

1

2

1

1

-.

7
11
4
2
1
2
7
8

5

12

2.6

1 4

50-100

87 5
84
67
40
1 1
6.6
23 3
25 0

Fibrosarcoma

Squamous cell
carcinoma
Bronchiolar
carcinoma
Bronchiolar
carcinoma
Epidermoid
adenocarcmoma
Bronchiolar-
alveolar
cat cinoma

Dose calculated
to 700 days after
exposure


Temple et {U.,
1959
Wager et al..
1956
Temple etal..
1969
Bair. 1960

Lisco, 1959

Park and Bair,
1972


Sanders, 1973




                                                     14

-------
 678
nodes, showed sclerotic lesions associated with
accumulated  plutonium.  Three dogs  had tho-
racic lymph node lesions of endothelial  origin
classified  as  hemangiosarcoma,   lymphangio-
sarcoma and  endothelioma.  Another dog had
a possible malignant lymphoma  involving the
mesenteric and mandibular lymph nodes. Auto-
radiographs of these  nodes  showed  no  radio-
activity. This  isolated  case is not considered to
be associated  with the plutonium exposure.
  In contrast to the results  with 23"Pu02, pre-
liminary data from  a  study  of inhaled 238Pu02
in dogs show a high incidence of  osteosarcoma,
although  pulmonary  neoplasia  also occurred
 (Park et al., 1974).  This is consistent with the
observed translocation of 238Pu to bone follow-
ing inhalation of 238Pu02 in both  dogs and rats.
  Sanders (1973) has recently reported  on the
carcinogenicity of inhaled 238Pu  in rats. Three
groups  of 35 animals each  inhaled an aerosol
of 238Pu in saline which gave initial lung bur-
dens of 0.005 ,uCi, 0.018 p.Ci, and 0.2 p.Ci with
associated cumulative  radiation doses to lung of
9 rads, 32 rads and 375 rads,  respectively, at 700
days postexposure. However, because of the rap-
id clearance of 23SPu from lung, nearly all of the
 radiation dose was  delivered to lung within 30
 days  after  the inhalation exposure. The lung
 tumor  incidence within the 0.005 ju.Ci  group
 was not significantly different from the  control
 group.  Groups receiving the two higher levels
 showed a statistically significant increased in-
 cidence of tumors but  no  increased mortality
 rate.
   Osteosarcomas were  observed  in   238Pu02
 treated animals  at  the  highest dose level only
 (i.e., greater than 50  rads accumulated  dose to
 skeleton) which correlated  with the transloca-
 tion  of plutonium  to  bone.   The   aerosol
 (crushed 23SPu02 microspheres)  was 72% ul-
 trafilterable and was considered "soluble."  Of
 the 19 pulmonary tumors found, there were 14
 bronchiolar-alveolar tumors, two  mixed carci-
 nomas, one epidermoid  carcinoma,  one undif-
 ferentiated carcinoma and one malignant lym-
 phoma.
   There  are   limited  data   available  on
 plutonium  inhalation by nonhuman primates.
 Metivier  et  al.  (1972)  reported  studies  in
 which  19  baboons  (Papio papio)  were ex-
 posed  at 2-3 years  of age to  an  aerosol  of
 239Pu02 with a  count median diameter of 0.5
 mm. The total lung burden at the time of death
 ranged from 0.01 to  0.1 ^Ci per gram  of fresh
      RELATIONSHIP  BETWEEN THE QUANTITY OF
                                    239
                                      PuO,
         DEPOSITED AND SURVIVAL TIME OF DOGS
    1000
 S  100
 -   10
                      oPULMONARY FIBROSIS
                      •PULMONARY NEOPLASIA
           Y = 34,600 f1-028
      10         100         1000         10,000

         SURVIVAL TIME, t  (DAYS AFTER EXPOSURE)
Figure III-7. — Relationship between quantity of ^'»
  deposited and survival time of dogs, Park et al., 1972.
lung.  Translocation  was  largely  to tracheo-
bronchial lymph nodes. All of the baboons had
radiation pneumonitis. In addition, two epider-
moid  carcinomas  of about  1.0  cm  diameter
were found after 80 days and two mucous-se-
creting adenocarcinomas of the same size were
found  after 180 days. Animals living past 80
days postexposure showed extensive areas of
squamous metaplasia or nests of small "tumor-
lets." The authors concluded  that baboons may
be more sensitive than dogs to acute internal
alpha irradiation.
  Figure  III-8 shows  the  incidence of lung
cancer in  the animal  experiments  described
above  as  a  function  of  the  calculated total
mean  radiation dose to the lung.  These data
show an increased incidence  of rat lung  cancer
occurring with doses as low as 10 rads. In rats
and mice,  the peak incidence  probably  occurs
at  doses between 200 and 1000 rads. The re-
sults  from  the  only  dog  experiment  show
higher incidences than have been  observed in
rats.
   The marked  histopathologic   changes  in
tracheobronchial and mediastinal lymph nodes
 of  dogs that have  inhaled plutonium  (Clarke
 and Bair,  1964), and those occurring is super-
 ficial cervical and axillary lymph nodes of dogs
 given plutonium implants in the subcutaneous
 fascia over the dorsal metacarpus (Lebel et al.,
 1972) were not observed to have  been detri-
                                               15

-------
                                                                                           679
mental to the dogs. The only possible exception
is  one dog given a 5.8 /xCi implant of air-oxi-
dized plutonium in the dorsal metacarpus. This
dog  showed  a  generalized  lymphadenopathy
after four months and died  of lymphosarcoma.
However, because of the early development of
this  lesion the authors were hesitant to attrib-
ute  it to the plutonium  (Lebel et al.,  1970;
Watters  and  Lebel, 1972).  The calculated  ra-
diation dose to  the superficial cervical lymph
nodes  was  about 7000  rads.  No  other neo-
plasms were observed in  these  dogs, but they
had  been at risk for  less than three years. In
the  plutonium inhalation studies at Battelle-
Northwest,  over 50 dogs have been at risk five
to 11 years (Park et  al,  1972). Metastases of
primary  pulmonary tumors to tracheobronchial
and  mediastinal  lymph  nodes and lymphatics
were common.  However, as  previously  men-
tioned, only one dog had  a  possible malignant
lymphoma, which was  confined to the mesenteric
and  mandibular  lymph  nodes. It can be con-
cluded from the relatively numerous rodent and
dog  experiments with -MSPu and  ->!''Pu in  which
many lymph nodes have been exposed to a wide
range of doses and dose  rates from  background

      PLUTONIUM INDUCED LUNG CANCER IN EXPERIMENTAL ANIMALS
             CALCULATED CUMULATIVE MEAN DOSE TO UHC IRADS)

Figure III—8.—Plutonium-induced Lung Cancer in Ex-
  perimental  Animals. Mean incidence and radiation
  dose values are those reported in the literature. Bi-
  nomial confidence limits were calculated from data
  included in the referenced literature.
  D 23°PuO2—Dogs (from Park and  Bail, 1972)
  V ="PuOa--Mice (from Temple el al.,  1959, 1960)
  A -'3'PuOit—Mice (from Temple et al.,  1959, 1960)
  0 22!'Pu02—Mice (from Wager et af.,1956)
  O -!"Pu  Citrate—Rats  (from Koshurnikova  «>i al.,
    1971)
  0 z3opu Ammonium plutonium pentacarbonate—Kats
    (from Koshurnikova et al., 1971)
  X ^sPu—Rats (from C. L. Sanders,  1973)
  
-------
  680
should be less hazardous than equivalent radia-
tion energy distributed over a large tissue vol-
ume. In fact, such a concept would lead imme-
diately to  the  conclusion  that the  larger the
particle (in terms of activity)  the less effective
the radiation emitted would be in producing
cancer because of the increased fraction of ra-
diation energy wasted on dead cells. An experi-
ment showing this effect was  done by Passon-
neau   et   al.,    (1952)   using  glass  beads
containing <)0Sr on rat skin. The same amount
of activity was used for the same area of skin
but the activity was distributed either in a uni-
form flat plate, in 50 beads, in 20 beads or in
10 beads.  The results given in Table III-B in-
dicate clearly a decrease in the tumor produc-
tion efficiency as  the radioactivity was concen-
trated  in  fewer  sources irradiating a smaller
total area  of tissue. However, the beads  with
the most   radioactivity  produced  the  largest
number of tumors per bead  and the smallest
number of tumors per microcurie. The relevant
parameter  is  tumors  per microcurie because
the basic  question is  how the risk  from hot
particles compares with  the  risk  from  uni-
formly distributed radiation doses.
  Dean and Langham  (1969), using data de-
rived by Albert  (1967a) on the production of
tumors  in  rat  skin, predicted on  an  absolute
basis the probability of tumor  production from
various sizes of  plutonium particles. The re-
sults of this calculation  predict a very  high
probability of tumor  production  from   most
particle sizes relative to a 0.016 pd lung bur-
den. The experiment of Albert on rat skin is
not really  applicable  to  radioactive particles
deposited  in lung because  it did not deal  with
particles,  while Passonneau's  is applicable to
the extent  that it deals with particulate radio-
active  sources, yet it  still  requires extrapola-
tion from skin to  lung.
  The recent Natural Resources Defense Coun-
cil  (NRDC)  petition  (Tamplin and Cochran,
1974)  uses mainly the results obtained in ra-
diation skin experiments  (Albert et al., 1967a,
1967b, 1967c) to infer alpha-particle risks in
the lung. Hence,  a critical  test of their hypoth-
esis is  whether a hot particle  pattern of alpha
irradiation of the skin can produce tumors.
  Two approaches have been  used in skin ex-
periments. The first was to determine whether
isolated small areas of irradiated skin gave the
same yield of  tumors  per unit as large-area
skin irradiations. The focal irradiation pattern
with low LET radiation,  electrons (Albert et
al., 1967b),  was less efficient than the large
area exposure in producing tumors. However,
with high LET radiation  (protons) there was
no difference (Burns et al., 1972). If these re-
sults can be  extrapolated to alpha radiation,
they suggest that the  risk  from  particulate
sources is no greater than from uniformly dis-
tributed sources.
  The  second  approach involved the  irradia-
tion of different depths in skin. In studies of
electron  radiation  with varying energies and
penetrating  power, the occurrence of tumors
and  atrophic follicles suggested the existence
of target cells at a depth of about 0.3 mm in
the skin corresponding to the lower end of the
resting hair follicle (Albert et al., 1967a). This
critical depth remained constant even when the
skin was irradiated with the  hair in the grow-
ing phase, i.e., when the  follicles  extend to  a
depth  of 08 mm (Burns et al., 1973a). There
was  a  quantitative association between the in-
cidence of  tumors  and atrophic follicles for
various types  of  ionizing radiation,  various
spatial distributions of dose within  the skin
and  for  different phases of hair growth (Al-
bert et al., 1967c).  A plausible explanation for
the experimental results is that each follicle
has a population of stem cells at a depth  of 0.3
mm that are concerned  with the production of
sebaceous cells and hair. These  stem cells ap-
parently constitute the most sensitive potential
oncogenic cell population to ionizing radiation
in  the rat  skin  since all  the  tumors  were
mainly of hair follicle origin  (Albert et al.,
1969). Neoplastic transformation of a signifi-
cant  number  of  these target  cells  required

                 Table III-B
TUMOR PRODUCTION IN RAT SKIN FOLLOWING
    EXPOSURE TO FLAT PLATE AND POINT
             SOURCES OF ™Sr/°"Y*
                         Number of tumors
 Source
                  Number     Per         Relative
            Activity of rats Total bead  Per jiCi efficiency
Flat Plate
(1000 /iCit
Flat Plate
(1500 M'O
.~>0 Bends
20 Beads
10 Bends
28.6 iiC\/cm-

42.9 /id/cm2
30 /iCi/bead
75 ^Ci/bead
150 /jCi/bead
-I
\
73!
58
77
74
89


27 0 009
24 0 016
1C 0.022
0.00049


0.00031
0.00021
0.00014
1.59


1.00
0.671
0.464
 Modified from Passonneau et al. (1952) by information given in
 NAS-NRC Publication 848 (NAS-NRC. l'J61a) .
                                              17

-------
                                                                                            681
large radiation doses which in turn killed most
of the target cells and thus caused  follicle atro-
phy.
  Similar studies were reported (Albert et al.,
1972)  in which the dorsal skin of mice was ir-
radiated with electrons in single exposures at
varying dose levels. Comparison of these  data
with the rat skin experiments showed that the
radiation sensitivity of the mouse skin for hair
follicle destruction was at least twice that  of
the rat, that the  incidence of atrophic  follicle
formation  in the  mouse was considerably less
than in the rat, and that as  a consequence the
incidence of epithelial skin tumors  (adnexal tu-
mors)  is  "markedly  lower  in  mice than  in
rats."  Thus the hair follicles in the mouse skin
exhibit a  lesser ability  to form atrophic  hair
follicles and  a  greater sensitivity to  the lethal
action of the radiation. Furthermore, there are
striking differences  between strains  of  rats in
the incidence of adnexal tumors resulting from
similar doses of electron skin irradiation  (Al-
bert etal,1961).
  Because  alpha  radiation from a plutonium
particle has  a  range in unit density tissue  of
only about 40 microns, the effect of focal irra-
diation at different levels of  the hair follicle is
a crucial  test  of the recent  NRDC  proposal
(Tamplin and  Cochran, 197-4). Alpha irradia-
tion of the skin  from the surface to a depth
of  about  0.15 mm did  not  produce  tumors
(Heimbach et al, 1969). This result, however,
is consistent  with the  existence of a target cell
population  at a depth of about 0.3 mm. How-
ever, selective irradiation  of the lower  end  of
the hair follicle at a depth of 0.3 mm by use of
the Bragg  peak from an alpha beam did not
produce  tumors   or  atrophic follicles  unless
there  was substantial  irradiation of the entire
follicle. This  observation  suggests that even
though the critical cell population is located  at
0.3  mm,  there are recovery mechanisms  that
block  oncogenesis  when only  part of the "criti-
cal  architectural  unit of tissue" is irradiated.
What these recovery  processes might be is not
understood. Nevertheless, this result does not
support the contention that a single plutonium
particle irradiating  a  "critical architectural
unit"  such  as the hair follicle, will produce a
tumorigenic risk  of the magnitude assumed by
Tamplin and Cochran (1974).
  Richmond  et al. (1970)  investigated the ef-
fects of 2J8Pu dioxide particles lodged in the ro-
dent lung  vasculature  following  intravenous
injections.  These  particles  averaged   about
180 ju.ni in diameter and gave average dose rates
to the entire lung of about 3.5 rems per hour
with the alpha particle dose rate at the surface
of the  particle on the order of  10s rads  per
hour. The longest exposure until sacrifice was
a group of 6 rats which lived to 600 days. Ex-
amination of the lung following these  expo-
sures indicated the presence of a microlesion
with complete degeneration of the cells close to
the particle. However, the evidence indicated
that this was not simply a stable type of scar
tissue  but rather that the lesion  was in  a dy-
namic state in which the collagen was renewed
constantly   with   subsequent   liquincation.
Within this time period there were  no tumors
produced nor were there  any indications  of ef-
fects that would be deleterious  to the animal's
overall  well being. It is noteworthy that  the
energy  delivered to the lung, if averaged over
the entire lung,  would  be  on  the order  of
2,000,000 rads in 600 days.  This dose, if uni-
formly  distributed, is much  greater than that
shown to cause deaths in relatively short  times
and is considerably above doses shown to pro-
duce lung cancers.
  In  the  experiment  of Richmond  et  al.
(1970),  the  particles  appeared  to  be  firmly
fixed in  the blood vessels, and therefore were
not representative of particles actually depos-
ited in the alveoli. Although movement of such
particles is known to occur, compared with in-
haled plutonium they are relatively static. Cells
located at the periphery of the zone of cellular
destruction  caused by  the radiation may re-
ceive radiation doses ranging from just  suble-
thal to essentially zero.
  Experiments in which  238PuO^ microspheres,
similar to those used in the rodent studies, and
-J''PuOj microspheres were surgically implanted
into  the lung  of beagle dogs  yielded results
that were qualitatively  similar  to  those  ob-
served  in  rodents. The  implanted  plutonium
particles produced  small  discrete microlesions
but no lung malignancies  were observed (Rich-
mond et al, 1974). It should be recognized that
relatively few animals were  used and that the
times of exposure were not long. However, one
dog was sacrificed at 4 years and 2 are still
alive 7  years  past implant.  That lung malig-
nancies have  not been observed  even  though
the local  radiation doses were extremely  in-
tense is of considerable radiobiological interest.
                                             18

-------
682
  Any  repopulation  of  the  volumes of  de-
stroyed tissue could result in rapid prolifera-
tion  of damaged  cells which have  received
sublethal  doses  of  radiation.  This  situation
would appear to have a high potential for pro-
ducing cancer but  is difficult to investigate ex-
perimentally  without an  understanding of the
basic mechanism of cancer production and of
the response of such damaged cells to an other-
wise normal environment. Information on this
possibility is  limited but some indication that
it  is not a predominant problem can be  ob-
tained from  the experiments  of Passonneau
(1952)  and  Richmond  et  al.  (1970,  1974)
which did involve  just such conditions in sev-
eral types of tissue.
  Current work uses  a  similar  experimental
design but with  10 ju,m  diameter zirconium
oxide microspheres containing Pu02 at specific
activities corresponding to  respirable particles
of  Pu02.  These   experiments  are  directly
applicable to the hot particle problem  (Rich-
mond and  Voelz,  1972,  1973; Richmond and
Sullivan, 1974).  In these  experiments  every
animal  received  2000  plutonium-containing
particles. Eight exposure levels and two con-
trol groups were used with particle specific ac-
tivities  ranging from  0.07 to  about  60 pico-
curies.  Of the  713 hamsters  used in  this
experiment only two control animals and one
injected  animal are alive at  present.  Table
III-C shows the radiation  doses  calculated by
three dosimetric models and the number of ex-
pected tumors per group as calculated from a
lung model (Coleman and  Perez, 1969)  based
on Albert's skin data. This model is basically
similar to those developed by Geesaman (1968)
and Dean and Langham (1969) as the dose re-
sponse function assumed in the calculation is
based upon the Albert rat skin data. About 1 %
of the lung  mass  of the animals  shown  in
Table III-C  was irradiated, and  the median
dose rate to those cells within alpha range of a
microsphere  was  estimated  to  be  20-1800
rad/day.
  No aberrant  clinical  signs  have been  ob-
served in any of the animals that have died or
have  been sacrificed to date.  Blood samples
have revealed no abnormalities even after long
exposures and there have  been no regional
lymph node  effects.  Occasionally,  small  accu-
mulations of macrophages are seen around
spheres  but   the  fibrous  encapsulation  pre-
viously described for the larger more radioac-
tive   (about  180  micron  diameter)  spheres
(Richmond et  al., 1970, 1974) are not seen.
Two  rarely  occurring tumors were  observed
among animals  included in Table III-C. One
hamster  developed  an angiosarcoma of  the
lung after 9.5 months exposure to  2000 micro-
spheres each  containing 0.42 picocurie alpha ac-
tivity (level  2A). Another animal  developed a
lung sarcoma at the same exposure level after
12  months.  Table  III-C  shows a predicted
tumor incidence of 40 tumors for  this group
(level 2A). No other lung tumors have  been
observed in this experiment. Every animal in
the experiment should have developed two lung
tumors if the tumor  probability is 10'3 per par-
ticle as speculated by Geesaman (1968).
                                         Table III-C
        EXPOSURE CONDITIONS FOR PRELIMINARY EXPERIMENT  (2000 SPHERES/ANIMAL,
                                ABOUT 70 ANIMALS/GROUP)
                                   (Richmond and Voelz, 1972)
Isotope
"'Pu




"Pu


Level
Number
1
2
2A
3
3A
4
5
6
nCi/Animal
0.14
0.44
0.84
1.82
3.2
8.6
26.6
119.0
Specific
Activity
pCi/sphere
0.07
0.22
042
0.91
1.6
4.3
13.3
59.4
Equivalent -
Diameter
Pure !JSPu02
e Rate at
Surface
of Sphere
(rads/hr)
4.2 X 101
1.2 X 10-'
2.5 X 10:
5.5 X 102
1.0 x 103
2.5 x 103
8.4 x 103
3.6 x 104
40 fim from
center
(rads/hr)
6.8 X lO'1
2.2 X 10"
4.1 X 10°
1.0 X 101
1.7 X 10'
4.2 x 101
1.3 X 102
5.8 x 102
Expected Tumoi
Incidence"
(tumors/group)
2
10
- 40
60
40
10
0
0
• Using NUS structure lung, with a lung density of 0.19 g/cma (Coleman and Perez, 1969.)
b Assuming 1 g of lung irradiated.
                                            19

-------
  An additional 485  animals  were injected
with    larger    numbers     of    spheres,
6000-1,000,000 per  animal,  to  irradiate  over
98%  of  the  lung.  Lower  specific  activity
spheres were  used,  and  median dose  rates
ranged  from 6-25 rad/day.  One  of these ani-
mals developed  a  primary lung tumor. Other
animals  have   been  injected  writh  50,000-
900,000  spheres  to  extend  the   range  of
sphere  specific   activity   down   to   0.015
pCi/sphere. Lung  burdens were 0.86-177 nCi,
and  median dose rates were 1.3-320  rad/day.
There are about 2000 animals in this study.
  Approximately 1150 animals have lived their
full life spans  or have been sacrificed to date
as part of this experiment. About 5.7  X  106
spheres with specific activities in excess of 0.07
pCi each were injected into these animals. The
observation of three primary lung tumors sug-
gests a  tumor risk of roughly 10'7 per particle
as a preliminary  estimate.  These results are
particularly significant in view of the demon-
stration by Little  et al.  (1970a, 1970b, 1973)
that the Syrian hamster develops pulmonary
neoplasms with high efficiency and short induc-
tion time following exposure to soluble 210Po.
  The distribution of all exposure conditions is
summarized in Figure III-9  in which the ordi-
nate is the number  of spheres  per animal
(scale  on left)  or fraction of lung irradiated
(scale  on  right),  and the  abscissa  is sphere
specific  activity. The diagonal lines are loci  of
constant plutonium  dose and are labeled with
the lung burden in nCi.  The special interest in
burdens between 10 and 100 nCi  is occasioned
   10''       10"'       10        10'
           Specific Activity (pCi/sphere)

Figure III-9.—Distribution of exposure  groups with
  respect to number of spheres per  animal  (ordinate)
  and specific activity of spheres (abscissa). The lines
  are loci of constant lung  burden and are labeled with
  nCi of plutonium per animal. Symbols indicate year
  of  injection: (•) 1971; (•)  1972; and  (A) 1973
  (Richmond and Sullivan, 1974).
                                        683
by the report of Little  et  al. (1970a)  that a
high tumor incidence develops rapidly in ham-
sters exposed to these levels of soluble 210Po.
  In a study of 21"Pu02  particles administered
by intraperitoneal injection in rats, about 2%
of the plutonium was found in the vasculature
of the lung 300-500 days post-injection  (Sand-
ers, in press). The mean lung doses from these
plutonium  particles  of   >  0.3  ,um  diameter
ranged from 10  to  600 rads for  three treat-
ment levels: 0.072, 0.360 and 2.900 ^Ci.  Of 106
rats that survived longer than 200 days (life
shortening occurred in the highest dose  groups
and  was due to  irradiation of the peritoneal
cavity),  one rat in the lowest dose group died
with  a  bronchiolar-alveolar  adenocarcinoma
after  823  days. There was  no other primary
pulmonary  neoplasia  and  little  evidence  of
cellular  reaction  to  the plutonium particles  in
the lung, even among those cells adjacent to the
particles. Inflammation, fibrosis, and epithelial
hyperplasia and metaplasia were not observed.
In general  these findings agree with the  results
from the current plutonium microsphere stud-
ies at Los Alamos (Richmond and  Voelz, 1972,
1973; Richmond and Sullivan, 1974).
  The liver has been  used to determine the
effectiveness of -3aPuO:, particles in producing
chromosome  damage  relative to  the amount
produced by 239Pu citrate in the ionic or mon-
omeric form  (Schubert et al., 1961).  Brooks et
al. (1974)  injected monodisperse 230PuO.> parti-
cles  (0.17, 0.30, 0.44 and  0.84  /im)  intrave-
nously into Chinese hamsters. About 90% were
deposited and  retained  with a  long effective
half life  in the liver. Using these four particle
sizes and 239Pu citrate, two cytogenetic studies
were  conducted.  In  the  first, a  constant total
activity,  1  x 1Q-3 ^Ci/gm body weight, was in-
jected using the three sizes of Pu02 particles.
Constant activity and variable  particle size
produced a constant average  radiation dose  to
the liver with a varied local radiation dose and
percent  of the  liver irradiated.  In the  second
study, a  constant particle size, 0.30 fan, was in-
jected with activity ranging from 6  X  10'3  to
6 X 10~5  fid/g body weight. The local radiation
dose rate around each particle was constant  in
this  case and the average  radiation dose and
number of particles were variable. Unexposed
animals and animals administered  2J9Pu  citrate
at a  concentration  of 6  X  10""  /xCi/g body
weight were used for comparison purposes.
                                             20

-------
  684
  When  the average dose was related to the
aberration  frequency  for  the  239Pu  citrate
(Figure  111-10), there was a linear  increase
according to the equation Y = 0.02 +4.8 x!Q-3D
where Y is aberrations per cell and D is dose
in rads. This relationship implies that approxi-
mately 200 rads of irradiation from uniformly
distributed 239Pu were required to produce an
average of 1 aberration per cell. Because cells
with  radiation-induced  chromosome  aberra-
tions  have poor  reproductive  potential, these
cells can be considered as  reproductively dead
(Carrano and Heddle,  1974). Abnormalities
observed following injection of the particles in-
creased in an approximately linear manner over
an average dose range up to  about 200 rads,
then plateaued at higher doses. The  slope of
the ascending portion  of  the  dose-response
curve for the particles was less than  that  ob-
served following injection of 239Pu citrate. The
relationship between  aberration frequency and
average dose to a sphere of tissue  within  the
range of alpha radiation from plutonium parti-
cles indicates that  the efficiency  of producing
aberrations decreased as the  particle size in-
creased.  At the smallest particle size, 0.1 fan,
the response was close to that seen  in animals
exposed  to 230Pu  citrate suggesting that  the
dose distributions in the liver were similar.
  In  addition  to determining the  aberration
frequency per  cell, the distribution  of damage
throughout the cell population was  also deter-
mined. The distribution of damage among liver
cells exposed to  plutonium particles was non-
Poisson, indicating that the damage was lim-
ited to relatively few cells, some of which were
severely injured. The damage in cells exposed
to 239Pu citrate (Brooks et al., 1974) was de-
scribed by a Poisson distribution, indicating  a
 Figure 111-10.—Chromosome aberration  frequency in
   the liver of the Chinese hamster  following intrave-
   nous injections of 23!lPuO2 particles or 239Pu citrate
   relative to average tissue dose in rads.
large number of less severely  damaged cells;
similar  results were observed in experiments
with  241Am  (McKay  et  at.,  1972)^and 252Cf
(Brooks et  al.,  1972).  This  implies that a
larger fraction of the irradiated cells were re-
productively  dead after nonuniform irradiation
than  after uniform  irradiation,  and perhaps
also indicates a smaller risk for tumor induc-
tion.
  Little  and  co-workers  (Little et al.,  1970a,
1970b;  Grossman et  al.,  1971; Little  et  al.,
1973) studied the effects of 21"Po chloride  ad-
sorbed onto hematite (ferric oxide) particles in
Syrian golden hamsters following intratracheal
instillation.  Animals  were  given  15 weekly
injections of 3 mg of hematite  containing ei-
ther 0, 0.01 or 0.2 /nCi of 210Po; the mean radia-
tion doses  calculated for the  entire lung were
225 and 4500 rads,  respectively, at the end of
one year (Little et al., 1970a). The earliest and
highest incidence of pulmonary neoplasia oc-
curred in those hamsters receiving the larger
dose of  210Po; the first lung cancer appeared in
an  animal sacrificed 15  weeks  after adminis-
tration. This experiment showed that lung can-
cer could be  produced in hamsters by alpha ra-
diation,  but  it  did  not  consider  the  relative
effectiveness  of  uniform versus  nonuniform
dose distribution.
  In  an experiment designed to consider uni-
form  and  nonuniform   dose  distributions
 (Grossman  et al., 1971),  four groups of  50
hamsters each were given separate intratra-
cheal instillations twice per week  for  seven
weeks of either 3 nig hematite  followed by 0.2
/iCi =10Po in  saline,  saline followed by 0.2  /tCi
J'"Po, saline  followed by 0.2 /xCi 210Po adsorbed
onto 3 mg hematite, or saline followed by 0.2
ju.Ci 2l"Po adsorbed onto 0.3 mg  hematite. In an
additional  experiment  (Little   et  al., 1973)
hamsters were  given seven weekly  injections
of  0.2 /iCi  210Po alone in saline.  The cumulative
radiation dose to the lung was  about 800 rads
as  compared with about  2000  rads when the
same amount of activity was  given adsorbed
on  either 3  or 0.3 mg hematite particles. The
mean tumor induction time  was considerably
shorter for the group given 210Po in saline, and
the tumor incidence was lowest for the group
with the  most   nonuniform   distribution  of
 210Po.
  The major differences  among the  groups in
 these experiments was in the microscopic  dis-
 tribution of  the  210Po as shown by autoradiog-
                                              21

-------
raphy.  Distribution  throughout  the lung was
distinctly nonuniform for the J'°Po contained
on hematite. Reduction of the mass of hematite
particles from 3 to 0.3 mg should have had the
effect of further increasing the nonuniformity
of the 210Po in the lung as there were 1/10 as
many particles  administered and each one con-
tained 10 times as much  activity. Preliminary
results suggested that an equal amount of 2iaPo
adsorbed  on  0.3 mg hematite  was even less
effective for lung tumor  induction  than when
adsorbed  on a larger number of carrier parti-
cles  of lower  specific  activity (Table III-D and
Fig. III-ll).
  Little et al.  (1973)  tentatively  concluded
that ".  . . in the dose range studied, alpha ra-
diation is more carcinogenic when a lower but
relatively uniform dose is delivered to a large
volume of  lung tissue than when  a similar
amount of radioactivity is distributed nonuni-
formly such that the primary effect  is to de-
liver much higher radiation doses to relatively
small tissue volumes."
  Studies of  a beta-gamma emitter  failed  to
confirm the existence of a unique carcinogenic
hazard due  to intense irradiation of tissue sur-
rounding radiation  particles in lung  (Cember
and  Watson, 1958a,  1958b; Cember et al., 1959;
Cember, 1963;  Cember, 1964a, 1964b; Cember
and  Stemmer,  1964). In  a series  of experi-
ments   with   intratracheally   administered
144CeF3 and 144CeCl3  in rats, the incidences  of
pulmonary neoplasia  were similar to those ob-
served at  comparable radiation doses in experi-
ments where  90Sr containing  glass  beads were
implanted in rat lungs.

                  Table III-D
   INFLUENCE OF DOSE DISTRIBUTION ON
            21°Po CARCINOGENESIS
 Treatment Schedule*
  Mon
           Wed
       Number
         of       Num-
       Animals Ntim-  ber
      Autopsied ber  with  Tumor
Radiation   58th   Still  LunK  Inci-
 Dose**   Week  Alive  Tumors denre
3 mg   210Po alone  800 rads  37    0   22   60%
  heme

Saline  2>°Po-3 mg 2000 rads  31    6   18   58%
         heme

Saline  21°Po-0.3 mg    —    25   12    9   36r/
         heme
 * Animals  received two  instillations  each  week fot  i v-eeks
  Polonmm-210 (0.2 fiCi)  Riven either alone in saline 01 liourid to
  hematite particles in amounts indicated.
** Cumulative radiation dose averaged ovei \\hole lun^s for pel lod
  up to 1 week after last instillation.  These doses tentatively as-
  signed, based on preliminary radiochemical data.
                                                                         685

                                  When Cember gave 0, 4.5, 45 or 4500 micro-
                                curies  of  Ba35S04  as  a single  intratracheal
                                injection to  rats, no lung cancer  or any other
                                lesion suggesting  that cancer  might  develop
                                was observed in any of the experimental ani-
                                mals during a  nine-month  observation period
                                (Cember et  al.,  1955).  When the Ba"SO, was
                                given as 10 weekly doses of 375 microcuries
                                each, 2 of the 16 rats which survived the injec-
                                tion  regime died at  312 and 319  days later
                                with extensive squamous cell carcinomas of the
                                lung (Cember  and Watson,  1958b). Calculated
                                radiation doses  were on the order of 12,000
                                rads.
                                  Cember and Watson  (1958a) implanted 90Sr
                                containing  glass  beads  in  the  lungs  of rats.
                                The beads contained from 1.09 to 59.3  ,j.Ci 90Sr
                                and were 320 ±  110 p,m diameter. Seven of the
                                23  rats  (30%)  developed primary pulmonary
                                neoplasms:  4  had  squamous  cell carcinomas
                                and 3  had lymphoid neoplasms.  The  earliest
                                death in a  tumor  bearing animal occurred at
                                169 days following implant.  The total radiation
                                dose in  these animals,  calculated  for a sphere
                                of  tissue with a radius equal to  the range of
                                the beta  radiation,  ranged  from 47,000  to
                                260,000  rads. Murine pneumonia was  a prob-
                                lem with the experimental  animals. No acute
                                deaths were due to  radiation  effects  and  no
                                life-shortening was observed.
                                   ,25
                                   z
                                   <
                                   020
                                   O
                                   a: 10
                                                  1
                                                                 A
                                                                                        _..+
                                                                                     *- "f
                                            10     20     30     40      50
                                             TIME AFTER FIRST INSTILLATION, weeks
                                Figure  III-ll.—Influence of dose  distribution on  the
                                  induction time of lung tumors. Hamsters were given
                                  seven  weekly intratracheal injections  of 0.2  /iCi of
                                  •10Po and hematite particles by different treatment
                                  plans: •---•, -'iop0 in saline and 3 mg of hematite
                                  given  on different days each week, x- - -x,  -10Po  ad-
                                  sorbed onto 3 mg of hematite particles. +--- + , -10Po
                                  adsorbed onto 0.3 mg of hematite particles (see Table
                                  III-D).
                                              22

-------
 686
  The experiments of Cember are of consider-
able relevance  to  the problem of nonuniform
dose distribution. Cember (1964a)  stated that
the question of the unique carcinogenic hazard
associated  with the high absorbed dose gra-
dient around a single  radioactive particle de-
posited in the lung seemed to be answered by
the results of the  acute Bair>SO,  exposures to-
gether with  the  14!Ce  experiments. He  also
pointed  out that  the negative results of the
long term  retention of several Bajr'SO, parti-
cles, under conditions suitable for  testing the
hypothesis  that such focal radiation presents a
unique carcinogenic hazard to the lung, imply
the absence of such a hazard associated with
one or a very small number of loci. His review
also emphasized that, for a given total amount
of absorbed energy, low-level, continuous expo-
sure of the total  lung may be more  carcino-
genic than the same amount  of  energy deliv-
ered acutely to a restricted volume of tissue.
  Furthermore, Cember  (1964a)  realized that
the quantitative relationship among total ab-
sorbed dose, the temporal and spatial distribu-
tion of the dose, and probability  of  developing
radiogenic  lung cancer  had  not  been  estab-
lished at that time. However,  the similarity of
the lung tumor dose response curves for solu-
ble 14'CeCl, and insoluble '"CeF.,  suggested the
absence of a hot particle effect.  He  states
"should this be true, then it follows that radia-
tion dose to the lung from inhaled radioactive
dusts may  be  calculated, for purposes of esti-
mating radiological risk, by assuming uniform
absorption  of  energy  throughout  the  lung."
However,  the  144Ce experiments should  be in-
terpreted with caution since Cember  (1964b)
noted that the "4CeCl3, which is soluble in solu-
tion, produced discrete focal  areas of radioac-
tivity in the lung following injection.
  In  the  summary  of his  review  Cember
(1964a)  states,  "Experiments with rats have
shown that radioactive substances deposited in
the lung can lead  to pulmonary neoplasia. Ra-
diations from 35S, 90Sr-90Y, and  144Ce  elicited
bronchogenic carcinoma and alveolar cell carci-
noma in addition to several other tumor types.
These experiments did  not  confirm the exist-
ence of a  unique  carcinogenic hazard due to
the intense concentration of absorbed  energy
in the lung tissue  immediately surrounding an
inhaled radioactive particle."
  Studies reviewed by Moskalev (1972) with
inhaled     239Pu    citrate    or    ammonium
-'"plutonium pentacarbonate have shown a sig-
nificant increase in  the  incidence of lung tu-
mors  in rats at cumulative absorbed radiation
doses  to the lung of about 50 rads.  Studies in
rats reported by Sanders (1973) indicated in-
creased lung tumor formation at 9 and 32 rads
following inhalation  of = 1RPu although the num-
ber of tumors in the 9 rad dose group were not
statistically significant as compared  with unir-
radiated  controls. According  to Koshurnikova
et al.  (1968) the microdistribution of 239Pu in
the lungs and  regional  lymph nodes at long
times  after exposure is characterized by non-
uniformity. This  has also been  observed in
dogs,  Figure III-3.  Therefore, it  is likely the
radiation dose from the J'lsPu in Sanders' study
was more  distributed in lung tissue than the
-|r'Pu  in the studies reviewed by Moskalev, thus
irradiating a relatively larger number of sensi-
tive cells. This  could account for Sanders find-
ing lung cancer  occurring at lower radiation
doses  from  -'"Pu than  has  been  associated
with  2!''Pu. However, dose rate cannot be ex-
cluded as  a  contributing  factor  because  the
-''•Pu  in Sanders' experiment was  cleared very
rapidly from the lungs; nearly all of the radia-
tion exposure occurred within 100  days after
inhalation of the ~JXPu aerosol.
  Preliminary  results from studies by Lafuma
(1974) and his colleagues with compounds of
-"Pu, -:''Pu, -"Am and -44Cm in  rats indicate
that the toxicity increases with the  dispersion
of the inhaled  radionuclide in lung. Curium-
244 nitrate was the most highly dispersed  and
the most toxic  at equivalent radiation  doses.
Curium-244 was also cleared  from  lung more
rapidly  than the  other  radionuclides with  a
pulmonary retention half-time  of only eight
days.
  The conclusion which results from a careful
consideration  of  these  experimental  animal
studies is clear. None of the results unequivo-
cally  prove that plutonium distributed in lung
tissue as particles is more hazardous than the
same  amount  of  plutonium  distributed uni-
formly. To the  contrary, experimental results
lead to the conclusion that the hazard of  plu-
tonium increases with the dispersion of pluto-
nium  within  the lung. Although inhaled pluto-
nium  is seldom  if ever uniformly distributed in
lung but is aggregated, a model based on uni-
form  distribution  is  probably the  conservative
approach for radiation protection purposes.
                                             23

-------
IV. HUMAN  EXPERIENCE
                                                                                      687
  There has been no recorded incidence of can-
cer in man resulting from the internal deposi-
tion of any plutonium isotope in the more than
three decades that plutonium  has been used.
This excellent  record  has  resulted  from  ex-
tremely effective control methods. The absence
of tumors is  also significant evidence concern-
ing the tumorigenic potential of plutonium in
the lung because a number of wartime  acciden-
tal  exposures occurred three decades ago—a
time comparable with probable  tumor induc-
tion times. Data from  occupationally  exposed
Pu  workers, limited as it is, constitutes human
experience of the most relevant kind for estab-
lishing  value  judgments  where  experimental
data are not always conclusive for formulating
risk evaluations.
  During late 1944 and 1945, at what is now
the Los Alamos Scientific Laboratory, 29 men
associated with  the Manhattan Project as  plu-
tonium workers were identified on the  basis of
nose swipes or urine radioassay  as having re-
ceived  plutonium  exposures (Hempelmann et
al.,  1973b).  Of these,  3 were  later  dropped
from the series as the result of improved assay
techniques which  indicated lower plutonium
burdens than estimated earlier, and 1 died of
coronary heart disease.  These individuals were
all  young men  involved in four basic opera-
tions related to the development of the  first nu-
clear  weapons: plutonium  purification  (wet
chemistry);  fluorination (dry chemistry); re-
duction to metal; and recovery.
  Clinical and laboratory data from this group
of men have been collected  periodically since
1953. These data consisted of medical histories,
physical examinations, blood counts and chem-
istry, urine radiochemistry, routine urinalysis,
and  roentgenograms   (Hempelmann  et  al.,
1973b). Studies of sputum cytology,  lympho-
cyte karyology, and chest  counting  for  ura-
nium L x-rays were begun in 1970. Table IV-A
shows information on estimated  date of expo-
sure and estimates of  the  body  burden  as
determined by  urine radiochemistry measure-
ments made in 1953 and 1972 (Hempelmann et
al., 1973a).  In  all cases, the values represent
estimates of the body burden based on a urine
excretion model  obtained  from  human  data
(Langham,  1957).  In  all  cases  but  two, the
1972 estimates are higher than those for 1953,
usually by a factor of  2-3  and occasionally by
a factor of 5-6. The 1972 estimates are consid-
ered to  be more relevant as they are  based

                 Table IV-A
 PLUTONIUM BODY BURDEN  ESTIMATES FOR
MANHATTAN PROJECT PLUTONIUM WORKERS
ESTIMATED SYSTEMIC

Numberf
1
2
3
4
5
6
7
8
9
10
11
12
13
16
17
18
19
20
21
'22
23
24
25
26
27
A D t
of Exposure
Late 1944
Late 1944
May 1945
June 1945
June 1945
June 1945
June 1945
June 1945
July 1945
July 1945
July 1945
July 1945
July 1945
July 1945
August 1945
August 1945
August 1945
August 1945
August 1945
August 1945
September 1945
September 1945
September 1945
October 1945 .
October 1945
BODY BURDEN*
1953
0.03-0.06
0.006-0.032
0.08
0.08
0.08
	 0.06
0.06
0.04
0.06
0.05
0.03
0.03
0.02
0.006
0.04
0.04
0.03
0.02
0.02
0.02
	 0.02
0.006
0.006
0.02
0.02
1972
0.206
0.03
0.42
0.26
0.18
0.14
0.15
0.11
0.11
0.10
0.05
0.12
0.005
0.03
0.13
0.10
0.02
0.05
0.04
0.05
0.04
0.03
0.01
0.006
0.05
 Microcurie + approximately 50% at the year indicated.
f Subjects #14 and #15 were dropped because of the death of one
 subject from coronary heart disease and the low body burden of
 the other as determined by modern assay techniques. Two others,
 not shown, were dropped from the original 29.
                                            25

-------
   688
upon more excretion  data and improved ana-
lytical  techniques.  High plutonium levels of
nose swabs at the time of exposure suggested
that most of the subjects received their expo-
sure via inhalation.
  Based on  data shown in the last column of
Table IV-A, the 25 men shared a total systemic
plutonium burden of approximately 2.5 ju.Ci in
1972. If one assumes,  as a  rough approxima-
tion, that 25% of the  initial lung burden was
translocated from the lung to the systemic cir-
culation and  then to organs such as the liver
and bone, it follows that the total initial lung
burden  for  thig  group of  men was approxi-
mately 10 juCi.
  During the most recent examinations  per-
formed  at Los  Alamos  (Hempelmann  et al.,
1973a)  estimates were made of the amount of
plutonium in the chest (lung and respiratory
lymph nodes)  of each man  using in vivo chest
counting techniques.  At  27 years following
contamination, 14 of the 21 men measured had
calculated chest burdens ranging from 0.003 to
about 0.010  /iCi.  This observation indicates
that some of the plutonium was inhaled or re-
tained in a relatively  insoluble  form, which  is
consistent with the  fact that some of the indi-
viduals  were known to have been  exposed to
239PuOo  because of  the work they  performed.
Studies  of these and other men  are continuing.
  Except for the ailments one would expect in
a group of men mostly in their early fifties, all
of the  Manhattan Project workers are in re-
markably good health.  This is additional infor-
mation that tends to support the general argu-
ment that the radiation protection guides for
plutonium have  not been grossly in error. Al-
though the study group is relatively small (25
men),  the magnitude  of  the plutonium bur-
dens, the long time  since exposure, and the co-
operativeness  of  the men make it unique and
extremely valuable.  However,  because some-
thing like 16 to 20%  of all deaths annually  in
the United States are  from  cancer, one might
be concerned about the size  of the group,  as 4
or 5 might be expected to die from "naturally
occurring" cancer had  they never been exposed
to plutonium. However, evidence obtained from
experimental animal studies indicates that plu-
tonium  induces  specific kinds  of  cancer, pri-
marily lung carcinomas, bone sarcomas, and to
a lesser extent bile duct tumors, depending on
the route of exposure.
  Although the particle size distribution of the
inhaled material is unknown, an estimate  can
be made on  the basis of aerosols produced by
somewhat similar  incidents. The value of 0.32
ju.m for the mass median diameter was meas-
ured for an  incident involving a  fire  at  the
Rocky  Flats facility in 1965 (Mann and Kirch-
ner, 1967)  and is similar to values found in
a glovebox at a fuel fabrication plant by Raabe
(in preparation) and by Moss et al. (1961)  for
plutonium aerosols in plant and laboratory op-
erations. Ettinger  et al. (1973) report various
particle sizes for  several operations. For a re-
covery operation,  a  submicron aerosol had  a
typical activity median aerodynamic diameter
of 0.3 /xm.
  If one assumes a log-normal particle size dis-
tribution with a mass median diameter of 0.32
/urn, standard geometric deviation (o-g)  of 1.83,
and a density of about 10 g/cm3, the number of
particles above a  given size can be calculated.
In this case, about 15%  of the  mass can be
shown to be associated with particles larger
than 0.6 ^m real  diameter (about  2 /urn aero-
dynamic equivalent diameter). One can then
calculate that  each person in the group of 25
men might have retained  about 4 X 10r> parti-
cles  above 0.6 ^m  diameter (0.07 pCi or more
per particle) from the orginal 10  /*Ci. If  the
cancer risk for such "hot particles" were 5 X
10~4 per particle, as postulated by the Natural
Resources Defense Council  report (Tamplin
and Cochran,  1974),  the 4  X  105 particles
should  yield  about 200 cancers  per man  or
about  5000 for the group. Even the residual
plutonium (average of 6 nCi per man) measured
in 14 of the original Manhattan Project pluto-
nium workers should yield 3 cancers per person.
One could also argue that the number of cancers
predicted from such a risk estimate might be
ten times larger as the product of 10s particles
(10  /iCi  -s-  0.07 pCi), each 0.6 p.m real diame-
ter, and the risk estimate of 5 X 10 4 per parti-
cle yields 5  X  104 tumors for the  group. The
observed lung  cancer incidence after almost 30
years since exposure is zero.
   Because of observations of chronic lympho-
penia in dogs exposed to plutonium oxide aero-
sols, one might expect to observe chromosome
damage in lymphocytes of exposed plutonium
workers. This observation led Dolphin (1971)
to investigate the possibility of  chromosomal
aberrations  in lymphocyte cultures obtained
from workers  in England known to have been
                                            26

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                                                                                            689
exposed to plutonium. He compared  the  find-
ings in eight plutonium workers who  had  been
exposed to plutonium plus 14 rad of external
irradiation over a 7-year period with workers
who had received external irradiation only and
found that the dicentric yield of lymphocytes
of the plutonium workers could  be accounted
for by the external radiation dose received by
the workers.  Dolphin  (1971) also cites another
case in which a plutonium worker was found,
by chest-counting, to have 10 to 20 times the
permissible level of  plutonium  in  the  lung
about three years after an inhalation  accident.
Chromosome  analysis indicated minimal radia-
tion exposure to the lymphocyte series even at
a high level of exposure of the subject.
  Brandon et al.  (1973)  reported an increased
incidence  of  chromosomal aberrations in plu-
tonium production workers at the Dow Rocky
Flats  plant.   These  investigators  contrasted
chromosomal aberrations observed in lympho-
cyte cultures from  six  unexposed  controls,
seven workers exposed  to penetrating radia-
tion, and 27 men thought to have internal dep-
osition of plutonium. Although  the  workers
with lung burdens of plutonium had  levels  of
chromosome aberrations  greater than  those ob-
served for controls,  the  highest incidences  of
chromosomal aberrations were observed in plu-
tonium workers who were thought to haye pri-
marily liver and bone burdens rather  than sig-
nificant lung burdens. Because some  of  these
individuals worked around hot cells, the contri-
bution to  the total  radiation dose (plutonium
plus penetrating radiations)  from the  pene-
trating radiation  is uncertain  and complicates
the analyses.
  The most recent physical examinations were
performed on 24 of the 25 Manhattan Project
workers during the past several years (Hem-
pelmann et al., 1973a). In addition to the usual
hematological procedures, blood  samples were
obtained   from these  men  for  chromosomal
studies. Utilizing established cytogenetic tech-
niques for cultured  lymphocytes, no chromoso-
mal  abnormalities were  found in any of the
subjects. However, it is  planned that recently
developed   chromosomal   banding  techniques
will be utilized in the future in evaluating the
presence  or absence of lymphocyte chromoso-
mal aberrations.
  Despite their relative rarity, much useful in-
formation  has been  obtained  from  accident
cases. Information  obtained from the AEC's
Division of Operational  Safety indicates  that,
during the period 1957-1970, there  have  been
on  the order  of  200 contractor personnel ex-
posed to 25 r/r  or more of the maximum permis-
sible  body  burden  (MPBB) for  plutonium.
These data also indicate that inhalation is the
major portal of entry and that more than half
of the cases are below 50% of the MPBB  (0.04
/•Ci).
  it may be instructive to look at a specific in-
stance of an industrial accident which was re-
ported by  Mann  and Kirchner (1967). On  15
October 1965,  a fire  in a plutonium fabrication
plant resulted in  a large-scale spread of pluto-
nium oxide. The Rocky Flats body counter was
used to  measure the plutonium in the lungs of
all  employees  working in the  area and, of ap-
proximately the  400  employees  counted,  25
were found to have  enough plutonium in  their
lungs to deliver a dose  of 15  rem per year or
greater  (i.e.,  at  least 0.016  (u,Ci). Data  from
each employee were obtained with  a pair  of
scintillation detectors in contact with the sub-
ject's chest; the 60  keV photon peak of 211Am
was used in the measurements. The J"Am con-
tent of the plutonium released in the fire was
determined, and  the plutonium quantity was
then estimated from calibrations using a chest
phantom with similar -"Am/^Pu ratios. The
plutonium consisted  of "high-fired" Pu02; par-
ticle size measurements of air samples collected
after the fire indicated a 0.32  /on  mass median
diameter (MMD) with a geometric deviation
(ov) of  1.83. Lung counting data  to  date show
a slow clearance  of  plutonium, confirming the
high degree of insolubility of the inhaled mate-
rial. On the average, 30% of material initially
deposited in the  lung was  cleared in 2  to  3
months, with  the  remaining  material clearing
slowly with little or  no measurable absorption
into the bloodstream.
  Of the 25 people  who were involved in the
Rocky Flats incident, two had burdens as high
as 0.16  /xCi, a factor of 10  above the current
maximum  permissible lung burden. Of those
available for follow-up, most are measured for
retained activity  several times each year. In-
formation  from these cases should ultimately
be included in  the U.S. Transuranium Registry
(USTR).
  By  using the  same assumptions  employed
above for the  Manhattan Project  workers, one
can estimate  the  number  of "hot  particles"
[e.g.,  more than  0.07 pCi per particle as de-
                                            27

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  690
fined  by Tamplin  and  Cochran  (1974)]  re-
tained in the deep lung of each of the involved
Rocky Flats  personnel  to be about 10" to 105.
Again, if the cancer risk  were 5  X 10"1 per
particle,  as  postulated  by the  Natural  Re-
sources Defense Council report (Tamplin and
Cochran, 1974),  these particles should  yield
5-50 lung cancers per person. To date, none of
these  workers  has shown detrimental effects
associated with his inhalation exposure of "in-
soluble" plutonium oxide in 1965.  In this  re-
gard,  an increased incidence of lung cancer has
been  reported as early as 5 to 9 years after
uranium miners were exposed to  radon decay
products and other biological  stressing agents
such as tobacco smoke and diesel fumes (Lun-
din et ai, 1971).
  The local dose to tissue from each of the ap-
proximately 10' to 10" "hot particles" retained
in the lungs of the Rocky  Flats workers,  as-
suming a sphere of lung tissue at  risk (180  ^m
radius) around each particle,  is  about  1200
rad/yr. Assuming an effective half-life for lung
clearance  of 500 days, the cumulative  local
dose to some cells over the 8.5 years for each
particle might be 2400 rad. This calculation as-
sumes a  static  particle irradiating a  fixed
group of cells. Calculations based  upon other
models (e.g., moving particles) would result in
smaller doses. Based on this information, one
might expect detectable biological effects in the
lung to have occurred in some of these exposed
workers, yet none has been reported to date.
  One case of plutonium contamination result-
ing from a puncture wound is extremely inter-
esting, as it has  been interpreted  by some as
resulting in a "precancerous lesion"  (Tamplin
and Cochran, 1974).  In this reference, the fol-
lowing statement is  made: "This precancerous
lesion indicates  that a single plutonium-239
particle irradiates a  significant (critical)  vol-
ume of tissue and is capable  of inducing can-
cer."  Information on this  case was originally
published in 1962  (Lushbaugh and Langham,
1962)  and appeared  again  with additional in-
formation in 1967  (Lushbaugh et al, 1967).
  The radiation dose around the plutonium im-
planted in the palmar skin was estimated to be
75,000,000  rad for  the 4.25  year period  be-
tween contamination and  excision.  However,
this kind of estimate may  be  meaningless, as
we do not know which cells  were exposed or
for what time periods. The entire lesion was
small, being of the order of 2.8 x 10~5 cm3.
  The  authors   (Lushbaugh  and  Langham,
1962) stated:
    "Although  the lesion was minute, the changes in
    it were severe.  Their similarity to  known pre-
    cancerous epidermal cytological changes, of course,
    raised the question of the ultimate fate of such a
    lesion should it be allowed to exist without surgical
    intervention. Although no malignancies of the skin
    of man have ever been shown autoradiographically
    to be  associated  with such alpha-emitting foreign
    bodies, the changes  here would seem to indicate
    that the development of such a  lesion is possible."
  This particular  case has been referred to as
representing a "precancerous" condition result-
ing from plutonium  (Tamplin and Cochran,
1974)  and might have been  the basis of a re-
cent statement  (Gillette, 1974)  which reads as
follows:  "Only  one  human  cancer case  is
clearly  linked  to  plutonium  exposure."  Ac-
tually, no  human cancer case  has  ever been
 'clearly  linked"  to plutonium  exposure.  The
U.S. Transuranium Registry  (Norcross  and
Newton,  1972)  continues to  attempt to corre-
late postmortem findings with  body plutonium
measurements.
  Cytologic changes  have been described in
cells in  the  vicinity  of embedded  plutonium
particles in man.  However, the malignant cel-
lular transformation required for the diagnosis
of actual cancer has never been found next to
"hot particles"  in human tissue (Lushbaugh
and Langham,  1962;  Lushbaugh et  al.,  1967).
Similar results have been reported  for several
animal experiments designed to study the bio-
logical effects of hot particles (Richmond et al.,
1970, 1974).  On the other hand, under certain
exposure conditions,  plutonium is an efficient
cancer-producing  agent in  experimental  ani-
mals.
  For many years,  several AEC  contractor
laboratories  have conducted  tissue  analysis
programs to determine plutonium levels in var-
ious tissues of both occupationally exposed per-
sonnel and members of the general population
 (Lagerquist  et al., 1972; Nelson et al.,  1972;
Campbell et al., 1973). For example, as shown
in Table IV-B, plutonium concentrations have
been determined  for  lung, liver, lymph nodes,
kidney, and bone for  the period 1959-1971 for
nonoccupationally exposed persons  from sev-
eral regions of the United States and for occu-
pationally  exposed persons.  Similar data have
been obtained from nonoccupationally exposed
persons for the period 1972-1973, as shown in
                                             28

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                                                                                            691
Table  IV-C  (Richmond and  Sullivan,  1974).
The average lung concentration for the latter
period is about 0.3 pCi for the 1000 g lung, and
the lymph node concentration (per kilogram) is
about 11 pCi. The increase in lymph node con-
centration is due to greater care in lymph node
excision; the  mass of  relevant tissue  excised
was reduced 5-7 fold, with consequent appar-
ent increase in Pu concentration.
  Plutonium  is  present  in  extremely small
quantities in  various organs  of contemporary
adult humans. Although most  of the plutonium
was produced from atmospheric testing of nu-
clear weapons prior to the 1963 limited  test
ban, some material from contemporary atmos-
pheric weapons testing  by China and  France
adds to the total human burden.  The current
lung burden estimate for persons in the United
States is  about 0.3 pCi 2<">.«°pu, an(j an esti.
mate  of the total  amount  in the body is about
3.2 pCi (Bennett, 1974).
  The AEC's  Health and Safety  Laboratory
(HASL)  recently has  used  information ob-
tained from  the International Commission on
Radiological  Protection to  model  the intake
and body  burden from fallout plutonium and to
estimate the radiation  dose to man from this
source (Bennett,  1974). The  cumulative lung
and  bone dose estimated  from  the period
1954-2000 is  16  and  34  mrem,  respectively.
Bennett (1974) also compared the body burden
based on  their model  with that  actually ob-
tained from the tissue sampling programs. The
agreement between the Colorado-New Mexico
tissue data and the model  predictions for 1970
and 1971 was good.
                                          Table IV-B

                  50th Percentile Distribution of Plutonium in Human Tissue (1959-1971)

                                               Plutonium Disintegrations per Minute per Kilogram
                                       Lung:
                                                   Liver
                                                             Lymph Node
                                                                            Kidney
* Number of samples (in parentheses).
t Samples not requested.
} Data cannot be compared as a group because of differences m type and duration of exposure.
                                          Table IV-C
                  50th Percentile Distribution of Plutonium in Human Tissue (1972-1973)
                                                Plutonium Disintegrations per Minute per Kilogram
                                    Lung
                                                       Lymph Node
                                                                    Kidney
 * Number of samples (in parentheses).
** 7 samples from Savannah River
  9 samples from New Mexico and U.S.
  14 samples from Colorado
                                                                                        Bone
Nonoccupationally Exposed:
Los Alamos
New Mexico and U.S.
Colorado
New York
All Populations
Occupationally Exposed :f
Potential
High Potential

1.3 (57)*
1.0 (76)
0.5 (66)
0.4 (26)
0.8 (217)
4.0 (44)
100.0 (15)

1.1 (58)
0.9 (73)
1.7 (60)
1.7 (26)
1.4 (217)
1.0 (41)
100.0 (15)

5.0 (52)
4.0 (66)
2.0 (46)
f
3.0 (164)
15.0 (42)
700.0 (14)

0.1 (54)
0.2 (66)
1 4 (45)
f
0.6 (163)
0.1 (42)
10.0 (13)

0.4 (35)
0.5 (41)
0 9 (65)
2.0 (25)
0.6 (166)
0.3 (25)
50.0 (11)

                                                                                         Gonad*
Nonoccupationally Exposed:
Los Alamos
New Mexico and U.S.
Colorado
Savannah River
All Populations

0.8 (8)*
0.4 (17)
0.7 (29)
0.4 (20)
0.6 (74)

1.6 (5)
0.7 (10)
1.8 (25)
1.2 (14)
1.5 (54)

35 (4)
20 (15)
15 (22)
40 (6)
25 (47)

0.2 (5)
1.2 (10)
3.0 (25)
2.2 (11)
1.5 (51)

1.6 (5)
0.4 (16)
1.1 (25)
0.7 (12)
0.7 (58)





0.4 (30)

                                              29

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                                                                                       693
V. THEORETICAL  CONSIDERATIONS
A.  Dosimetry
  The distributions and interactions of the ab-
sorbed energy from alpha-emitting plutonium
particles among the cellular elements  in  lung
tissue are  difficult  to examine experimentally
and, therefore, have to be considered on a theo-
retical  basis.  This  requires  integrating  our
knowledge  of the properties of alpha radiation
with our understanding of the dynamic charac-
teristics of lung, the cell types which populate
lung  tissue and the interactions which occur
between  cellular  constituents and plutonium
particles.

1. Alpha Particle Irradiation of Cells and Tis-
   sues
  The two  plutonium isotopes of primary con-
cern are 238Pu and 239Pu which emit alpha par-
ticles  of average  energy 5.5 MeV and  5.15
MeV,  respectively.  In passing through a me-
dium  such  as tissue or air, alpha particles lose
energy by  collisions with electrons  of atoms,
producing charged atoms and free electrons or
delta  rays.  The delta rays cause further ioniza-
tion  events. Alpha particles from plutonium
have  a range  of about 40 ^m in soft tissue of
unit density. The energy of the  alpha  particle
drops to zero at the end of its range. The aver-
age loss of energy per unit of  path  (Linear
Energy Transfer, LET) is about 140 keV/Vm.
However, the  loss of energy per unit  of  path
length and the number of  ionizing events it
produces actually increase along the  path of
the alpha particle as the energy of the  particle
approaches  zero  (the Bragg effect).  Ninety
percent of the ionization events occur within a
cylindrical  volume  of about 0.01  /j.m radius
around the alpha particle track; most of the
remaining 10% occur out to about 0.2 /j.m.
  This pattern of  energy  dissipation differs
greatly from that of electrons (beta radiation
or secondary to x and gamma radiation) which
are characterized by  values of  LET that are
two or three orders of magnitude smaller. Con-
sequently equal  absorbed doses of alpha and
electron  radiation,  although  by definition are
depositions of equal energy per unit mass of ir-
radiated  material, produce drastically different
energy distributions at  the  microscopic level
which  can be numerically expressed  in terms
of the quantities of microdosimetry.
  The  specific  energy,  z, is  the  energy im-
parted to the matter in  a specified volume di-
vided by its mass. The average  or expectation
value of  specific energy,  z, is equal to the ab-
sorbed dose but z may fluctuate greatly around
this value (ICRU Report 19, 1971). If a region
in tissue is traversed by  a particle, the  result-
ing increment of z depends on the LET of the
particle and on the length of track within the
sphere but a  mean always can be specified for
a given set of conditions. Thus, for the alpha
particles  under consideration, and 2.5 /on  diame-
ter nuclei (within essentially spherical "cells"),
the mean z deposited in such a nucleus is about
500 rads and this value  is independent  of the
absorbed dose,  z. At absorbed doses that are
much less than 500 rads most nuclei experience
no traversals; the number of nuclei that are
traversed is proportional  to the  absorbed dose
and the mean value of z in these nuclei is inde-
pendent of dose. When absorbed doses are com-
parable to 500 rads, the probability for multiple
traversals becomes appreciable and higher aver-
age values of z in traversed cells result (Rossi,
1967).
  The  same considerations apply to electrons
but the  numerical values are quite different.
Thus,  an  electron  having an  LET of 0.3
keV/^m  will in traversing the 2.5^m  diameter
volume impart an average increment of z that
is about  1  rad. Hence, at an  absorbed dose, z,
of 50 rads where one in  10 nuclei is traversed
by an  alpha  particle delivering an average z
(dose to the nucleus) of 500 rads, electrons will
traverse  almost all nuclei  and z will differ little
from 50 rads.
                                            31

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  694
2.  Biological  Factors  in Alpha Radiation Do-
   simetry

  In Part III of this report it was pointed out
that all inhaled particles, including plutonium
and aggregates  of plutonium, are subjected  to
numerous physical and biological  forces which
tend to remove  the  particle from the respira-
tory tract. Therefore,  plutonium  does not re-
main static in lung tissue unless the plutonium
becomes immobilized in scar tissue, bound  to
biochemical   moieties,  or  otherwise  trapped.
However, as evidenced  by the relatively long re-
tention time of plutonium in lung, much of the
plutonium deposited is made  inaccessible for
ready  clearance by  some mechanism such  as
immobilization  or  recycling  through genera-
tions of the  several types of  cells  capable  of
phagocytizing particles. All of this contributes
to  the  complexity  of the spatial  and temporal
distribution  of  the absorbed radiation  dose
from plutonium  in lung.
  Lung tissue surrounding particles will be ir-
radiated at relatively constant rates, assuming
the particles are fixed  intracellularly. extracel-
lularly or trapped in alveoli blocked by cellular
products or debris. The amount of radionuclide
and solubility of the particles  will influence the
biological damage to the cells. However, rela-
tively  soluble plutonium may be  chemically
bound  in cellular material and be retained  in
lung for a long  time, e.g., studies with inhaled
Pu(NO.,)4 (Ballou and Park, 1972).
  The  degree of isolation of particles by cellu-
lar debris, fibrosis, and similar changes conse-
quent to biological damage caused by irradiation
or physical and  chemical irritation of the sur-
rounding tissue  is an important consideration.
Because  alpha emissions from 238Pu and 239Pu
have a range of approximately 40 ju.ni in  unit
density tissue, the degree of this walling-off ef-
fect will be a major factor in dosimetric  con-
siderations. Complete "walling-off" of the  par-
ticle might reduce  the risk  from the alpha
emissions to  lung epithelial cells  greater than
40 ,um  from the  particle boundary, but the risk
from the delta rays, X, and gamma radiation
accompanying the 238Pu and  23
-------
  A minor factor in dosimetric considerations
of radioactive  particles  in  the lung is  move-
ment during the respiratory cycle of tissue rel-
ative to a deposited radioactive particle.  For
the most part,  tissue movement would be such
as to increase or decrease the radius of the ex-
posure field concentric with the particle.  While
the  volume would change somewhat  during
these movements,  the  mean  volume  would
apply for  dosimetry  calculations  as they re-
late  to possible biologic effects. During a respi-
ratory excursion, particles  will tend to move
with the tissue in which they are  contained.
The  same cells  will be at risk, regardless of the
variability of the volume of the tissue sphere.
  These biological considerations  emphasize
the importance of the dynamic characteristics
of lung tissue and  of particles deposited in
this  tissue. Although the kinetics of the inter-
actions  of plutonium particles and their alpha
emissions with  cells in  lung are  not known,
they are  certainly more complicated than  a
fixed source of plutonium particles irradiating
a static population of  cells within a 40-50 /*m
range.

3. Models for Dosimetry and Tumor Probabil-
   ity

  There have been a  number of  attempts to
understand  the spatial distribution  of energy
from alpha emitters deposited in lung by devel-
opment of models using computer technology
applied to  various representations of lung ar-
chitecture. From  the  preceding discussion it
will  be obvious that all of these models are de-
ficient in respect to biological considerations.
  Scientists at Los Alamos   (Richmond  and
Voelz, 1973) developed a model to determine the
number of cells which receive given radiation
doses as a function of distance from  plutonium
microspheres.  A  first  objective of this  model
was  the identification of the effect of lung struc-
ture on radial distribution ("radial interaction"
function)  of encounters  between alpha tracks
and  cells for calculation of dose.  Photomicro-
graphs of thin  sections of hamster lungs were
scanned by a high resolution densitometer,  and
the digitized images were  stored on magnetic
tape. Numerical evaluation of the radial  inter-
action function was  accomplished  by a Monte
Carlo technique operating on  the digitized  im-
ages. Mean intercept lengths of alpha tracks in
air and tissue were varied by digital  manipula-
                                       695
tion of the images to determine the effects of such
parameters as lung density, alveolar size, and
wall thickness. These investigators found that
lung density could  be eliminated as a parame-
ter by appropriate normalization   (e.g., ex-
pressing "distance" as mass per unit area) but
that the scale factor of lung structure (ratio of
characteristic dimensions to the range of al-
phas  in tissue) had a profound effect on the
radial distribution of energy deposition.
   Dean and Langham (1969) developed a theo-
retical approach to estimating tumorigenic risk
from  exposure of skin and lung to high specific-
activity  particles  of  235U,  238Pu,  and 239Pu.
The radiation dose from discrete sources was
treated in such a manner that an  estimate of
the individual cellular response  can  be made.
Dose  averaging  was not  used  in  the model.
Particle movement within the lung was taken
into  consideration  (500-day half-time)  and
lung density of 0.26 g/cm3 was  assumed. The
tumor probability versus dose-response curves,
which are the basic ingredients  of the model,
were  taken from the rat skin tumor  data  (Al-
bert et nl.,  1967a,  1967b,  1967c).  Dean  and
Langham (1969) point out that the rat is sen-
sitive to skin tumor development and that sen-
sitivity may be different for the human  lung.
In their model, calculations of the  lung tumor
probability per particle as a function of parti-
cle size show peak responses at about 10~l for a
1 /j.m  diameter 238Pu particle and  about  10"1 for
a 5 ,um diameter 239Pu particle.
   At  the  1 fi.m diameter  size, the tumor proba-
bility for 239Pu is  three orders  of magnitude
lower  (10~4)  as  compared  with 238Pu  (1Q-1).
Dean  and Langham (1969)  compared the lung
dose from 0.016 MCi of 239Pu for 720 days fol-
lowing an acute exposure using the dose aver-
aging  technique  (3.2  rad)  and  their  model
(1.6 X 10s rad absorbed  by 3 X 105 cells). This
model, like others, makes no allowance  for cell
repair, turnover and replacement; it  does pro-
vide for "wasted radiation" and assumes that
the Albert  data  for rat skin  (Albert et al.,
1961; Albert,  1962; Albert et al.,  1967a, 1967b,
1967c) can be applied to lung.
   Geesaman (1968) proposed a cubical lattice
model to represent clusters of alveoli with elas-
tic walls of uniform thickness. The geometrical
representation was a honeycomb-like structure
comprised of truncated  spheres  (the alveoli)
wrapped around a duct (the bronchioles). The
volume of "tissue" irradiated by a 1 ^m  238Pu02
                                             33

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  696
 particle embedded in the lattice was calculated
 by considering the angular dependence of the
 geometrical range of alpha emission in the cu-
 bical lattice. Alpha radiation emitted along the
 lattice  axes,  in the lattice, and in a sphere
 about the particle would  penetrate about  100
 alveoli, according to this model, and irradiate
 about 10"' endothelial and epithelial cells. Using
 published  values  for  turnover times  of lung
 cells  and observation  of the response  of lung
 cells  to a high dose of x-rays,  of cultured kid-
 ney cells to alpha particle radiation, and of cell
 cytoplasm to  protons, Geesaman estimated
 that,  unless  the 238Pu02 particle is less than
 about 0.25 ^m diameter, the yearly alpha flux
 will be lethal for all epithelial  cells in the ex-
 posed volume of tissue. The equivalent "criti-
 cal"  size  for  a 230Pu02 particle was 1.75 /j.m.
 The  calculations  are  for  a static source.  A
 moving source will expose  a larger volume of
 tissue, but, according  to Geesaman (1968), if
 the distance traversed is only  to an adjacent
 ciliated  bronchiole,  the   irradiated   volume
 would probably not increase by an order  of
 magnitude. However, one can calculate  the dis-
 tance from an alveolus to  the  ciliated epithe-
 lium  to be about 8000 Fm (Weibel, 1963)  or
 about 45 times larger than the 180 (u.m range
 of a  5.1 MeV alpha particle in lung tissue of
 density 0.22  g/cm3. Therefore, the irradiated
 volume  would  increase  by several orders of
 magnitude, but the duration of exposure would
 be drastically shortened as the particle would
 be removed from  the  lung after reaching the
 ciliated epithelium. On the basis of his model,
 Geesaman  concluded that the carcinogenic risk
 does  not scale with the total  energy from a
 plutonium particle.
  Using Davies'  (1961) model of the alveolar
 region of the lung, Coleman and Perez  (1969)
 developed a cylindrical model of the nonciliated
 region of the lung comprised of the respiratory
 bronchi, alveolar ducts, atria, alveolar sac, and
 the alveoli. The structure of the lung was as-
 sumed to  consist of parallel,  cylindrical  air
 ducts  arranged  in  such a  way  that the mini-
mum  distances between any adjacent ducts are
 equal  and with maximum  ratio of  air  volume
to total volume. The space between air ducts  is
the tissue volume.  This model was deemed ade-
quate  for calculation of "smeared" doses  but
was refined for "local" dose considerations to
include "cellular"  structures lining the  alveoli
and a coordinate  system. Dose rates in rads
 per second were calculated for tissue surround-
 ing a static particle from point sources of 238Pu
 and from volume sources.
   Plutonium particles do not  reside for long
 periods of  time  in the tracheobronchial region
 of the lung. However, the possibility for expo-
 sure of these tissues occurs during inhalation
 of plutonium and during transport of particles
 cleared from the lung on the  ciliated  epithe-
 lium. Animal experiments have shown the bron-
 chiolar-alveolar region of the lung rather than
 the bronchial epithelium to be the primary site
 of particle  retention and the major site  of
 damage induced by  inhaled plutonium.  How-
 ever,  in addition to  tumors of bronchiolar-al-
 veolar  origin,  a few  epidermoid  carcinomas
 were incidental findings at necropsy in beagle
 dogs at long times  after the inhalation expo-
 sures  (Howard, 1970). To  compare the relative
 radiation doses  to the bronchiolar, bronchial
 and tracheal epithelium  from  inhaled  pluto-
 nium, Harley and Pasternack (in press) derived
 dose curves for 0.06 ^m and 2 ju.m 239Pu02 parti-
 cles from which the dose in rads per minute at
 any depth in the epithelium of the trachea and
 terminal bronchioles could be  computed. The
 difference in the  dose rates for the largest air-
 way (trachea)  and the smallest  airway (termi-
 nal bronchioles) was  small and,  therefore, dose
 rates for intermediate airways were  inferred
 to be about the same. For  continuous exposure
 to the ICRP maximum permissible concentra-
 tion of 10-11 /iCi/cm3  air, the maximum annual
 dose from  0.06 /i.m diameter 239Pu02 particles
 is 0.014 rad at a depth of 22 /on in  the epithe-
 lium of terminal  and  subsegmental bronchioles.
 The maximum annual dose from 2 /im particles
 was similarly calculated to be 1.2 X  106  rad,
 delivered to  the segmental bronchioles.
  Recently Mayneord and  Clarke  (1974) com-
 pleted  a mathematical study of  the  carcino-
 genic risks  associated with radioactive  parti-
 cles   using  a   nonlinear  peaked  cellular
 dose-response function, a power law response.
 Assuming that all cells of  a tissue are equally
 at risk,  it  was concluded  that  beta radiation
 from  a point source of MlRb or  :)r>S is more
hazardous at low source  strengths than the
same  activity uniformly distributed; however,
the opposite is true at high source strengths.
The mean dose at which the transition occurs
increases with the beta energy emitted by the
particles and with increasing organ mass and
                                            34

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                                                                                        697
power law cellular response.  However,  if the
tumorigenic response is a  linear function of
dose,  the  uniform  tissue  irradiation rather
than the point source gives  the greatest expec-
tation. Under the most  pessimistic  conditions
of numbers of hot particles of both high and
low beta energy, the authors conclude that the
carcinogenic risk is not more than about a fac-
tor of 10 greater than predicted by a linear hy-
pothesis. With alpha radiation the expectation
of events which might lead to cancer from a
point source is greater than that from uniform
irradiation of the same  amount of energy for
point source strengths up to that at which cell
killing predominates. However, because  of the
small number of particles emitted the authors
question the application of this  macroscopic
method and suggest that the stochastic meth-
ods of microdosimetry might  be  a  better ap-
proach. The authors conclude, that in the light
of present knowledge of cellular response, spa-
tial distribution of cells at risk and localization
of particles  within tissue, the use of  mean
organ doses and the assumption of a linear re-
lationship between dose and effect is a reasona-
ble guide to  estimating  the carcinogenic risks
from radioactive particles.
  These dosimetric models can be useful in un-
derstanding how a given biological  effect such
as cancer  occurs  following deposition of plu-
tonium in lung and might even lead to identifi-
cation of possible mechanisms for  cancer in-
duction.  However, because these models are
deficient with respect to the biological aspects
of plutonium in Jung (in most cases for the
simple  reason  that the biology  is not ade-
quately known), the models are not  dependable
for predicting the health consequences of plu-
tonium. In fact these models can be used to
yield almost any answer desired.

B.  Radiation Carcinogenesis Relative to Spa-
     tial Distribution of Dose
  The calculated  radiation  doses around  hot
particles are an unreliable base for the calcula-
tion of biological  effects because of  the lack of
adequate  biological models for carcinogenesis.
Experimental data, meager as it is  in some in-
stances,  is more  valuable  than models  based
upon  calculated  radiation doses,   which  in
themselves may be very uncertain, and  upon
inferences from other organ systems that may
have no relevance to the organ system in ques-
tion. This latter  point is particularly true for
the use of dose-effect models derived from rat
skin data as  the basic input  for  models of
human lung carcinogenesis arising from radia-
tion.
  The importance of understanding wasted ra-
diation before trying to solve the "hot parti-
cle"   problem   cannot   be  overemphasized.
Because of the pattern of alpha energy depo-
sition in a tissue volume around  a  given  plu-
tonium particle, the nearest cells  are virtually
all killed while those more distant are either
exposed to very low radiation doses or are not
irradiated. Because  of the short range of the
alpha particle, most of the deposited energy is
absorbed  within  extremely  small tissue  vol-
umes.  Depending on the number of particles
and their  dispersion and mobility, much of the
lung may be unaffected.
  These observations lead one to  a  hypothesis
to explain the relative sparing effects on tissue
of alpha particle radiation associated with plu-
tonium particles  as compared with a more uni-
form distribution of energy. The following dis-
cussion considers primarily those cells that are
affected in some  manner but not killed by the
alpha  irradiation (Richmond et ai., 1970).  A
large variety of cellular changes can result from
alpha irradiation, yet only a small percentage of
these  changes can lead  to  carcinogenesis. Be-
cause  of  the many possible  alterations, the
chance of the specific change or combination of
changes required to produce an oncogenic re-
sponse is extremely  unlikely to occur in any sin-
gle cell. There is a large probability that death
of a  cell would precede the occurrence of the
critical random events that would result in an
oncogenic response; however,  if one adminis-
ters sublethal radiation doses to  a sufficiently
large number of cells, it becomes more proba-
ble that oncogenic  changes would  occur,  de-
pending upon the cell number and the radia-
tion  dose. This  idea has been mentioned by
numerous authors, including Archer and Lun-
din (1967).
   A common hypothesis is that a direct linear
relationship  exists  between  radiation-induced
neoplasms and ionizing events per cell multi-
plied by the number of cells irradiated. How-
ever, for nonuniformly distributed alpha radia-
tion   the   "wasted   radiation"   must  be
considered.  Although the  quantification  may
not be clear, it is obvious that the amount of
                                             35

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  698
tissue irradiated is an important factor in the
production of cancer. Cember  (1964a)  stated:
    ". . . , the likelihood of inducing lung cancer seems
    to increase as the volume of irradiated lung tissue
    increases—that is, as the number of radiation foci
    increase and overlap. Furthermore,  the experi-
    mental results imply that the carcinogenicity of a
    given amount of absorbed radiation  energy  in-
    creases, up to a point, as the absorption of energy
    is spread out both time- and space-wise. From a
    practical point of view this means that, for a given
    amount of absorbed energy, low-level, continuous
    exposure of the total lung may be more carcino-
    genic than the same amount of energy  delivered
    acutely to a restricted volume of tissue."
  Others have postulated models for cancer in-
duction in which a "threshold" volume or mini-
mal mass of tissue must be damaged before the
carcinogenic process of unlimited cellular pro-
liferation overrides the inhibitory mechanisms
regulating  growth  processes   (Rashevsky,
1948). There is evidence that transformed cells
in  physical contact  with  normal  unaffected
cells are prevented from dividing  (Sivak and
Van Duuren,  1970). Widespread tissue  dam-
age, such as could occur with a more uniform
distribution of the same  amount of  energy,
could  release  transformed cells  from  this
growth restraint. As Mayneord (1968)  points
out, "Radiation must be much more effective in
killing cells or in interfering  with  their abil-
ity  to multiply than in causing- the alleged spe-
cific malignant transformation  of  individual
cells or of small foci of cells."
  Mechanisms for preventing or mitigating er-
rors in replication which can produce  somatic
mutations must exist, because there  are proba-
bly on the order of 1012 to 1013 mitoses every
day in the human body (Burnet, 1964). There-
fore, even for those cells damaged by radiation
in such a way as to be transformed there are
processes that prevent the development of a
malignant growth.  Each change does not pro-
duce a malignant growth. Thus, a carcinogenic
agent may induce an event in a single cell or a
group of cells which is followed by the develop-
ment of clones of cells which gradually but
rarely free themselves from growth controls
exerted by the entire organism (Mayneord,
1968). In some tissues these controls may  re-
sult from  the  autoimmune response  or  from
cellular contact inhibition of division  (Burrows
and Horning,  1953).  It is suggested that nor-
mal cells can act as mitotic  inhibitors;  thus,
one cell bearing a malignant potential might  be
prevented from dividing by  the influence  of
surrounding normal cells. Uncontrolled mitosis
would be prevented unless the inhibition were
removed in some way.
  The  free movement of transformed  cells  in
culture  stops  when they are in contact with
normal  cells, suggesting that the transformed
cells are responsive to inhibitory signals from
normal  cells   (Stoker, 1964,  1967).  Although
transformed cells may be inhibited by contact
with normal  cells,  they  can continue to grow
and  move when in contact with other trans-
formed  cells.  The  requirement  of cell-to-cell
contact for transfer of materials between cells
is known, and the  presence of growth  inhibi-
tors  in  normal cells has been postulated, but
this  mechanism  is  apparently  deficient   in
transformed cells (Burk, 1966).
  Thus,  both  acute and  late  effects   of the
same quantities of plutonium in the lung might
reasonably be  predicted to be less hazardous
when the plutonium is  nonuniformly  distrib-
uted as compared with a more uniform distri-
bution for the following reasons. For  nonuni-
formly  distributed  plutonium, the volume  of
irradiated tissue is much less, much of the ra-
diation  dose is wasted, in most cases cells are
either  killed  or  not irradiated, many fewer
cells are irradiated  but not killed, and the ratio
of damaged (transformed) cells to  normal cells
is much smaller than for uniformly distributed
plutonium. All the above factors are important,
yet the  last may prove to be the most  impor-
tant, especially for  extremely nonuniform dose
distribution patterns.
  One can also  consider  the mechanisms  of
carcinogenesis  from the standpoint  of patho-
logical  changes in  tissue  irradiated  both  by
uniform and  by nonuniform distributions  of
energy. The following is a discussion of carci-
nogenic mechanisms that may be applicable to
irradiation of skin  and  lung (Casarett, 1965,
1973a, 1973b). The mechanisms of most, if not
all, types of  cancer appear to be  multi-event,
multi-stage processes including cellular initiat-
ing events which confer cancer potential upon
cells and  promotional  events   or  conditions
which stimulate or permit proliferation of the
tissue in which the cancer  originates  (includ-
ing the  cancer-potentiated cells) and/or permit
proliferative  advantage  or  autonomy   of the
cancer-potentiated cells.
  In the development of some cancers, for ex-
ample those of lung or skin, the promotional  as
                                             36

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                                                                                        699
well as the  cellular initiating events appear to
be  closely associated at the sites of origin of
the cancers and  to  be largely  independent of
extraordinary influence of remote factors gen-
erated in other  organs.  In  such cancers, the
promoting events or  conditions appear to con-
sist of tissue damage and disorganization (cell
degeneration and necrosis,  vascular degenera-
tion, fibrosis,  compensatory  cellular prolifera-
tion, and metaplasia)  the so-called "precancer-
ous lesion."
  Radiation in  sufficient  doses to  a  large
enough volume can cause both the cellular ini-
tiating events and the promotional events. The
most  likely candidates for  cellular initiating
events are certain types of mutations or chro-
mosomal aberrations. High frequencies of such
changes  can be  caused  by  relatively modest
doses of radiation, and also by other mutagenic
agents. However, increasing the radiation dose
increases the incidence of reproductive sterility
among cells, even in  cell types  that are  rela-
tively  resistant  to destruction. Such  perma-
nently sterilized  cells cannot be the source of
cancer. Thus, a maximum in the dose response
curve is to be expected.
  On the other hand, the so-called precancer-
ous lesions,  if they are to be caused largely by
the radiation and not by  other  pathologic con-
ditions or aging, require  large  doses of radia-
tion ; that is, doses capable of inducing the pro-
gressive  vascular  changes  and  connective
tissue reactions sufficient  to reach a  degree and
extent of tissue disorganization that is cancer-
promoting prior  to the time  when such lesions
might  have  developed if radiation had not been
involved. Such large  doses sterilize  many cells
and eventually lead indirectly to non-selective
cell  necrosis  secondary  to  the  vasculocon-
nective-tissue-circulatory  degeneration,   with
persistent and abortive attempts by some  of
the nearby and less affected  cells, even in nor-
mally  low-turnover  tissues,  to  proliferate  in
compensatory fashion, often  atypically.  The
probability that damage will overwhelm restora-
tive mechanisms  and  produce gross  local tissue
breakdown increases  with the size of the area
exposed, in particular, when the linear scale
exceeds the size  of the sensitive structure  or
target. This critical size  might be  determined
by  the ability of the local  restorative mecha-
nisms to compensate for such injury.
  The  character  of the precancerous lesions in
this type of mechanism is such that they pro-
gress to a particular degree of severity faster
after higher doses than after lower doses, there-
by accounting at least in part for the shorter la-
tent period after the higher doses. If,  however,
the promotional condition is supplied by means
other than the radiation dose  in  question, the
size  of the radiation dose required to assure
the development of  a particular cancer within
the remaining life expectancy, if that expect-
ancy is long enough to accommodate at  least
the minimal latent  period, is  the size of the
dose required to cause or to complete  the cellu-
lar initiating events in sufficient incidence.
  For  this type  of  mechanism, if the promo-
tional condition is to be supplied largely by the
radiation exposure,  the  optimum carcinogenic
dose is likely to be  that which provides  a net
optimum balance between effective promotional
tissue  damage  and incidence of reproductively
capable  cancer-potentiated   or  transformed
cells. Larger doses sterilize  and/or kill exces-
sive  numbers of cells and  reduce  or even abol-
ish induction effectiveness. The volume of  irra-
diated   tissue,  with respect  to  numbers  of
reproductively  capable cancer-potentiated  cells
and  amount  or critical  volumes  of tissue  in-
volved   in  the  promotional precancerous  le-
sions, is likely  to be an important factor influ-
encing  the  probability  of  development  of
cancer.
  For  cancer induced by local  exposure of the
tissue of origin there is,  in general, an increase
in incidence and reduced latent period with  in-
creasing radiation dose  within a certain  dose
range.  With further  increase  in dose,  there
tends to be a decline in the rate of  increase in
incidence per unit dose.  This  decline at  high
dose levels is represented  first by a plateau in
the  dose-incidence  curve at  peak   incidence
level, and then by a fall in the curve at still
higher  dose  levels.  The fall  in the  incidence
curve at the highest dose levels  has  been  at-
tributed to degrees of tissue  destruction,  in-
cluding cell reproductive sterilization, that  re-
duce or eliminate cancer induction.
  Although  the  germinal cells  of  the  hair
follicles  in  the dermis  are  rapidly  renewing
cells relatively sensitive  to the  direct necrotiz-
ing actions of ionizing radiation, the  epithelial
cells of the lung are slowly renewing cells  rela-
tively  resistant to the  direct  necrotizing ac-
tions of ionizing radiation. Both  of these epi-
thelial   cell   types   can  be   reproductively
                                             37

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    700
sterilized  by irradiation and both can  be de-
pleted indirectly by interference with their mi-
crocirculatory support as a consequence of sub-
stantial  progressive  vasculoconnective  tissue
changes.  Such  changes  increase the  histo-
hematic connective tissue diffusion barrier and
reduce effective blood circulation in  the proc-
esses of widespread fibrosis.
  Radiation-induced lung cancer or skin  cancer
apparently  is preceded by  a considerable de-
gree and extent of local tissue damage, disor-
ganization,  and fibrosis, that is,  the so-called
precancerous lesion.  The experimental  induc-
tion of cancer in either of these organs by ir-
radiation  of the  normal organ  apparently re-
quires  large radiation doses. That  is, there
seems  to  be a large  minimal or "threshold"
dose, but the required doses  are reduced if the
promotional local tissue damage and disorgani-
zation is caused by means other than the radia-
tion. As discussed earlier, the dosimetric mod-
els  used to  predict  lung tumor response to
alpha particle radiation  (see section  V.B) are
based upon dose  response data obtained from
experiments using rat skin.
  In the experiments by Albert  et al.  (1961,
1967a, 1967b, 1967c,  1969)  and  Burns et al.
(1968,  1973a,  1973b) involving  induction of
cancer in rat skin by  intense electron irradia-
tion, most  of the cancers were said to be simi-
lar  to hair follicle epithelium, and the promot-
ing  condition   was   apparently  the  tissue
damage and disorganization  in the dermis, in-
cluding the tissue of hair follicles. The field of
irradiation  was large, relative to the follicle
size, and  in  one  experiment was 24 cm2.  The
fact that there was a  relationship between the
incidence of cancer and the number of atro-
phied hair follicles in  the large field of dermis
irradiated  and damaged at  or about the  level
of hair follicles, and elsewhere to some extent,
may be  related  only  incidentally, in part or
wholly,  to  the achievement of the required de-
gree and  volume  of disorganized dermis.  The
required volume may be  considerably  larger
and qualitatively broader than the volume of  a
single hair follicle and the structures contained
within the hair follicle. The geometrical effect
of exposure with sieve patterns observed in Al-
bert's experiments, notably the suppression of
cancer induction  at 1700 R but not at 2300 R,
may be a  suggestive indication  of the impor-
tance of distinguishing between effects on hair
follicles as individual structural units and the
more general effects on volumes of dermis and
its vasculature as promoting conditions.
  At present there is no compelling reason to
believe that the critical structure or volume re-
quired for radiation-induced promotion of can-
cer  arising from cancer-potentiated cells  of
hair  follicles  is  limited  to the  hair  follicle.
There is also no  cogent evidence that the lung
has analagous discrete susceptible architectural
units with critical tissue  volume as small  as
the sphere of alpha particle range from an iso-
lated "hot particle."
  Increase in the risk of lung cancer with in-
crease in  the number of inhaled particles (for
example, insoluble PuCK particles) retained in
deep  lung tissue  may not be simply a function
of  increasing numbers of  retained particles
that are widely separated  from one another in
location and tissue effect,  but possibly a  func-
tion of the frequency with which  certain  mini-
mal numbers of particles become lodged within
sufficient  proximity of one another to  cause
relatively   confluent  tissue   disorganization
throughout  a  promotionally  effective  tissue
volume  that is larger than the sphere of  effect
of a single particle (or sub-minimal number of
closely associated particles), and at the  same
time, to increase  substantially  the  number of
cancer-potentiated, reproductively capable cells
near  and  within the  volume  of  disorganized
tissue.
  With protracted,  nonuniform  exposure  of
tissue to  alpha particles, there is uncertainty
not only as  to the tissue  component dose rele-
vant to carcinogenesis,  but also as to the por-
tion of the  total accumulated  dose that  effec-
tively  contributes  to  the  induction  of  the
cancer.  In cases  of intense irradiation, some of
the total accumulated close is "wasted" and ir-
relevant, as regards the induction of a cancer.
Some of the dose in excess of  the minimal in-
duction dose conceivably may  shorten the la-
tent period to some  extent by  substituting for
other contributing factors that would have oc-
curred eventually but later.
  Considering  the  amount of  human   data
available  for carcinogenic risk estimates, and
the  variability   and  uncertainty  concerning
dosimetric factors (e.g., relevant  doses, differ-
ences in spatial and temporal dose distribution,
etc.), it has thus far been regarded as neces-
sary  to select single values  of quantities that
                                             38

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characterize the exposure of an organ or that
organ in a group of individuals. Mean accumu-
lated tissue dose is the only criterion that can
be used  practically at present  until adequate
knowledge of more relevant criteria becomes
available. Furthermore, when the energy is de-
posited  nonuniformly and  its influence in the
exposed organ or a group of individuals  is not
known,   the  nonuniformity  cannot  be  dealt
with until more adequate data are available.
The  linear (proportional)  hypothesis  is  the
only one that normally  permits the use  of
mean dose as the  significant dose factor for
conditions  of nonuniform exposure  and  expo-
sure rate in  an organ or among individuals,
for purposes  of estimating risk or setting dose
limits in the  absence of adequate data on dis-
tribution of dose and dose rates.
  It is highly questionable that the ratio  of in-
duced cancers to atrophied hair follicles in Al-
bert's experiments with large volume external
irradiation ofi rat  skin can be taken as the
basis for the risk of cancer  induction from  a
radioactive particle in or near a hair follicle in
skin or isolated in deep respiratory tissue. It is
also  highly  questionable  that  the existing
standards for uniform radiation exposure of
the  whole  body or  lung  can be used as the
basis for establishing particle exposure stand-
ards by simply equating the risk of cancer in-
duction  between  the two types of exposures,
that is, uniform  vs. grossly nonuniform. The
risk  for uniform irradiation of man as repre-
sented  in the NAS-NRC BEIR report (1972)
is based  on the linear hypothesis as  applied to
data from  uniform low LET irradiation  of all
cells in  the lung over a dose range  associated
with a rising dose-incidence relationship. This
dose range did not involve doses so large as to
greatly reduce the carcinogenic effectiveness by
excessive cell sterilization and killing, but was
capable of contributing to tissue  disorganiza-
tion  anywhere in the irradiated lung. As indi-
cated earlier, there  are many more cells at risk
in the case  of  uniform distribution of  dose
than with nonuniform  distribution, for  the
same amount of radiation dose. Also, the bulk
of the  available evidence  suggests that in the
radioactive particle situation the great major-
ity of cells surrounding a single isolated  parti-
cle within its sphere of irradiation are likely to
be reproductively sterilized if not destroyed.
                                     701
C.  Assessment of Experimental Animal Data

  The question of whether the practice  of ex-
pressing the radiation exposure to lungs from
inhaled plutonium as an  average dose is rea-
sonable can be considered empirically by exam-
ining the  results from experimental  animal
studies  in which the late effects, such as lung
cancer,  were observed  in several animal spe-
cies.
  In  reports of the carcinogenic response of
experimental animals to inhaled radionuclides
the authors generally  calculated mean  radia-
tion doses to the total lung.  To avoid  hand
drawing the "best" line  through the data,  a
logarithmic probit curve  was  selected  from
among  possible transforms and  was fitted to
data from a number of experiments in  which
there were several dose groups showing  a pro-
gressive increase of cancer incidence or a sin-
gle dose group if  the  lifespan  was not sub-
stantially reduced compared  with the controls
(Thomas and Bair, submitted for publication).
Binomial confidence limits were also calculated.
Results from studies of beta-gamma emitting
radionuclides are  plotted in  Figure V-l. The
heavy line is the curve fitted to the composite
data. The  thin lines were fitted to individual
multidose experiments  and  provide a kind of
experimental error band. No  statistical validity
is ascribed to this procedure; however, it is a
useful expedient by which  to  summarize the
nature and magnitude of the dose effect  ca. ve.
A similar treatment of data  from experiments
with plutonium is shown in Figure V-2.
  The composite curves  for the experiments
with beta-gamma emitters and  for alpha emit-
ters are redrawn in Figure  V—3. At all doses
the incidence of lung cancer was greater for
alpha emitters  (plutonium)  than for the beta-
gamma emitters; however, the differences be-
tween the two curves  were  greater with in-
creasing dose. At a mid-point tumor incidence
of 20 percent, the corresponding  doses are 300
rads  for alpha emitters  and  3500  rads for
beta-gamma  emitters.  Thus, based on  calcu-
lated  mean lung  doses, alpha emitters  were
about 10 times more efficient for lung  tumor
induction than  were beta-gamma emitters. At
10 and  30 percent  incidences, the alpha emit-
ters were about 5 and  20 times more efficient,
respectively,  than  beta-gamma  emitters. Since
the RBE for alpha particles  ranges from 1 to
20, depending upon the biological system and
                                             39

-------
   702
response studied  (NCRP,  1971), and  is often
given as 10, this greater efficiency of alpha ra-
diation in producing lung cancer in experimen-
tal animals appears reasonable.
   Consider now the dose to the lungs of  the
animals that inhaled the alpha emitter, pluto-
nium, calculated on  the basis of a "critical vol-
ume" of lung tissue, that fraction of lung tissue
actually irradiated  by static  dispersed or  ag-
gregated particles in the lung.  It  was pointed
out  in  the discussion  of experimental  animal
studies  that  nearly all plutonium compounds
deposited in lung tend  to form aggregates and
are never uniformly distributed. Table I gives
the calculated fractions of lung irradiated by
a lung  burden of 0.016 /-.Ci 239Pu02 of different
particle diameters. For purposes of this discus-
sion it  will be assumed that 0.1  percent of  the
lung is irradiated. On this  basis the  calculated
alpha doses for the experimental animal data
would be increased by a factor of 1000 and  the
lung  cancer incidence  curve  is  transposed  to
the right of the beta-gamma dose effect curve,
Figure V-3.  Now it would appear that alpha
radiation from  particulate sources in lung is
about 100 times less efficient than beta-gamma
radiation in causing lung cancer in experimen-
tal animals. This factor of 100  would become
10 if one assumed an irradiated lung volume of
1 percent. The curve would still be to the right
of the beta-gamma curve, which  is radiobiolog-
ically unrealistic, i.e.,  it implies an RBE  for
alpha particles of less than 1.
   One  can conclude from these  considerations
that the mean  dose to lung from  plutonium
  5   10         '00         1000        10000
           CALCULATED CUMULATIVE MEAN BETA GAMMA DOSE TO LUNG RADS


Figure V-l.—Relationship between incidence of  lung
  cancer and radiation dose to lung from  inhaled beta-
  gamma emitting radionuclides in experimental ani-
  mals.
 Pu PENTA -CARBONATE -RATS IBuldakov & .yuflchans
3Vl CITRATE -RATS IBuldakov & Lyubchansky 19701
^PuO?-DOCS (Park 8, Bair 197?)
 PuCyMIU (T
38Pu-RAlS (Sa
                  al 19591
             CALCULATED CUMULATIVE MEAN ALPHA DOSE TO LUNG RADS
Figure V—2.—Relationship between incidence of lung
  cancer and alpha radiation dose to lung from inhaled
  plutonium in experimental animals.
particles  is a  biologically reasonable  basis  for
expressing  the  quantitative  relationship  be-
tween  tumor  incidence  and alpha  radiation
dose. Also, one can conclude that the mean
dose  concept  represents a  conservative  ap-
proach  to the establishment of permissible lim-
its  for  plutonium provided the radiation pro-
tection  criteria for lung exposure is based on a
limiting rad dose.
  It  is  significant that the  dose-effect curves
for  beta-gamma  emitters  and alpha emitters
                                                            ALPHA EMITTERS
                                                           (BASED ON UNIFORM
                                                            ABSORPTION OF
                                                              ENERGY)
                                                                                   ALPHA EMITTERS   /
                                                                                 (ENERGY ABSORBED IN /
                                                                                  CRITICAL VOLUMES, /
                                                                                   0.1% OF LUNG) /
                                                                100       1000      10,000     100.000
                                                             CALCULATED CUMULATIVE RADIATION DOSE TO LUNG, RADS
                                                                                                1,000.000
Figure V-3.—Comparative relationships between the in-
  cidences of lung cancer and radiation doses from in-
  haled beta-gamma and alpha emitters in experimental
  animals. The dose to  the lung from alpha emitters
  was calculated  in two ways: assumed absorption of
  energy  in the total  lung mass and  assumed absorp-
  tion of  total  energy in only 0.1% of the lung mass.
  The radiation energy from  beta-gamma emitters was
  assumed to be absorbed throughout the  total lung
  mass.
                                                40

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                                                                                           703
are "parallel." Regardless  of the nonuniform
distribution of the  alpha dose the  mean  rad
dose  ratios between  beta-gamma  and  alpha
emitters for comparable tumor incidences range
between only  about 5 and 20, and no assump-
tions  regarding the carcinogenicity of individ-
ual particles  are  needed or  implied. Thus,  a
comparison of relatively uniform beta-gamma
irradiation with nonuniform  alpha irradiation
can be  derived solely from toxicity data.  The
appropriate models needed to describe the com-
plete  sequence of  events  leading  to cancer are
of secondary  importance to a valid determina-
tion of the relative toxicity  of the two  radia-
tions—the most  fundamental criteria in  any
hazard  assessment.
  According to Geesaman (1968), tissue dam-
age  rather than  radiation  is the  proximate
cause of cancer. Tamplin and Cochran  (1974)
suggest that  irradiation  of a critical architec-
tural  unit of a tissue  (e.g., a  hair follicle)  at a
sufficiently high dose  rate is  a requirement for
cancer  induction.  The results of experimental
animal  studies which  bear   upon  these  two
views are from studies of low LET radiation
in  which  the entire  lung and,  therefore, all
the "critical architectural units," regardless of
the number, are irradiated, and from studies in
which a specific target tissue is irradiated.
   Figure V-4 shows that lung tumor incidence
increases with  dose for rats given  bronchial
implants  containing 32P  or 10GRu. Tumor inci-
dence is virtually zero at 103 rad and about 60%
at  10°  rad. The  radiation dose was calculated
for a specific target  tissue,  that is,  the basal
layer of  the  bronchial epithelium.  Because of
the size of the implanted pellet it is likely  that
many of these target cells were irradiated.
   Data in Figure V-4 for five species of  ani-
mals  given 60Co wire implanted  in their lungs
show  lung  tumor  incidences  ranging from
about 8 to 40%, in  all  but  one instance, for
total  doses of 105-10« rad  to either the entire
lung  or to the esophagus. It  is of interest  that
the entire lung is irradiated,  including any and
all possible   "critical  architectural  units,"  at
high dose rates, yet the tumor incidence is not
unity.  Also of interest is the similar response
shown for the several species  used with the
possible exception of the rat lung, the highest
cancer  incidence  point.  The observation  of
tumor incidences well below unity is true also
for the whole-body  exposures to X-irradiation
in which the entire  lungs and body of rats re-
ceived doses near 103 rad. Although these  were
acute  exposures,  the  entire lung  was  irra-
diated.
  The high doses from the implanted sources
and  the  process of  implanting the sources as
well caused severe localized reactions. How-
ever, such lesions  do not appear  to be a re-
quirement for cancer induction,  because the
whole-body exposures  from external sources do
not involve severe necrosis although  pneumoni-
tis and fibrosis can result at high exposure lev-
els.
  These data from  experimental animal  stud-
ies involving low LET radiations lead one to
conclude that there probably is not a  critical
structure in the lung analagous to  the hair fol-
licle in  the skin  of  a specific  strain  of rat
which, if irradiated at a dose of 103 rad, will
produce lung tumors in high yields.
                    10'       10s      \06       10'
              CALCULATED DOSE TO LUNG (RADS)

 Figure V-4.—Fractional Incidence of Lung Cancer in
   Animals Exposed to Low LET (/8,X,y) Radiation
   O '"Co implant. Rats, mice, hamsters, rabbits, guinea
     pigs (Warren and Gates, 1968).
   A ""'Ru implant. Rats (Laskin et at., 1963).
   n JP implant. Rats (Laskin et al., 1964).
   9 X-ray. Rats (Koletsky and Gustafson, 1955).
   T X-ray. Rats (Castanera et al., 1968).
                                              41

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                                                    47

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                                                                        711
     (Note:  Following is further questioning of the AEG conducted at




the end of the hearing.)  Dr. Mills:  We appreciate the members of the




biomedical group sticking around.  We will try not to hold you much




longer.




     Probably the best thing to do will be to have Dr. Richmond and




Dr. Bair, if they would, to come up; and Dr. Burr, if he is still




around.




     I would suggest that we try to confine this within the next




half hour.




     Before we start, I assume, Dr. Bair, you have cancelled your




plane?




     Dr. Bair:  It just left.




     Dr. Mills:  We appreciate that.  Ed, you seem to have most of the




questions that you would like to address, so why don't you begin?




     Dr. Radford:  Are there other questions that you had in mind?




     Dr. Garner:  I have just one.




     A very short question that I did not get to last time:  Do your




results shed any light at all on the einsteinium problem going into




the bone?




     Dr. Bair:  We have some preliminary results showing chat ein-




steinium which has a 20.5 day half-life is less effective in causing




lung cancer in rats and more effective in causing bone cancer than




PU-239.




     This is an interesting preliminary finding in an attempt to study




possible dose rate effects of alpha irradiation.  I believe these parti-

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 712
cular bone tumor data are contrary to what would be expected on the




basis of current concepts of protracted radiation exposures.




     Dr. Radford:  I apologize, gentlemen, and I do appreciate your




willingness to stay with us.  I regret that we did not have time to




complete the discussion.




     It seems to me that the principal value of this questioning at




this stage, from my standpoint, is to determine, is there a hot




particle problem or isn't there, because, to be honest, I was not very




convinced by the presentation comparing skin and alveolar cell radiation




that was already presented.




     I would like to address a few questions — I think maybe we can




shorten this down in view of the circumstances.




     Bill, would you want to comment on your feeling as to whether the




particles that you show in your photomicrograph as being deposited in




the lung are likely to produce cancer, and if so, what kinds of




cancer?




     Dr. Bair:  The photomicrographs that I have shown did not include




areas of cancerous tissue.  Therefore particles present in these




sections, as indicated by the autoradiograph, cannot be directly re-




lated to cancer induction.  Similar particles certainly have been




associated with cancer in some of our experimental animals.




     Dr. Radford:  When the cancers are produced by these transuranics,




where do they arise?




     Dr. Bair:  In our plutonium experiments, and also in the

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                                                                         713
experiments being conducted at Fontenay aux Roses, France, with plu-




tonium and other transuranics nearly all of the cancers originate in




the lung periphery.




     Dr. Radford:  What is the cell type, do you know?




     Dr. Bair:  The tumors are practically all bronchiola-alveolar and




squamous cell carcinomas.




     Dr. Radford:  But they arise from a cell type associated with




terminal bronchioles?




     Dr. Bair:  I am not sure what cell types they originate from but




they certainly originate in the alveolar and bronchiolar areas.




     Dr. Radford:  Which is it, alvelolar or bronchiolar?




     Dr. Bair:  I do not know, except that the tumors appear to




originate in the alveolar and bronchiolar areas of the lung.




     Dr. Radford:  I see.  I know this has been a continuing battle




for the experimental lung cancer.  Would you agree, either you or any




other member of the panel, that in man, the bulk of the cancers do not




arise from whatever environmental causes may be related to them — They




do not appear to arise very often in this terminal bronchiolar or




alveolar region?




     Dr. Bair:  That is my understanding.




     Dr. Marks is here from the Atomic Energy Commission.  He is a




pathologist quite more qualified to comment on this than I am.




     Dr. Marks:   I am a former pathologist, but I have been with the




AEC for a few years now.   I was part of the team that worked on the




early experimental pulmonary exposures at Hanford.

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  714
     At that time, the doses that were involved were quite large.  There




was metaplasia and also bronchiolar proliferation that went into the




alveoli in the animals.




     Even though we were dealing with bronchiolar origins for the




carcinomas, they were sometimes associated with these very heavy tissue




changes that took place in the alveolar part of the lung.




     Dr. Radford:  The question is about human cancers.




     Dr. Marks:  In human cancers, the bulk of the tumors are actually




epidermoid carcinomas, with the exception of the uranium miners who




have shown a number of anaplastic carcinomas.




     Dr. Radford:  The point of origin, was it more proximal




bronchial?




     Dr. Marks:  Yes.  Very definitely.  The customary site of origin




of the carcinomas in the human is in the proximal bronchi.




     Dr. Radford:  Again, for whoever wants to answer this:  The




relevant information that one would need, if you were going to estimate




the risk from an inhaled particle for man, would probably therefore




be the dose delivered to those bronchial cells?




     Dr. Marks:  I would agree with that.




     Dr. Radford:  Would you agree, Bill?




     Dr. Bair:  I am not sure.  What you are actually saying, I think,




is that we should not expect plutonium to produce cancer in man of the




same type seen in experimental animals.  I assume that plutonium would




be deposited in the lung of man in the same way as in the experimental




animals — that is the plutonium would accumulate in the peripheral

-------
                                                                         715
areas of the lung.  That is where the radiation dose would be




delivered and, as in experimental animals, that is where I would




expect tumors to originate.




     I think you are telling me that because cancer seldom originates




in the lung periphery of man plutonium may not cause cancer in man.  I




would not expect plutonium to induce cancer readily in the relatively




unirradiated areas of the lung such as the bronchi where plutonium has




not accumulated.




     Dr. Radford:  I am not telling you anything.  I am asking you, do




you think the relevant dose that has to be applied, if you are talking




about dosimetry around the hot particle, the dose that is pertinent to




cancer production will be the dose delivered to those bronchial tissues,




not to peripheral tissues where it might have to be.




     Dr. Bair:  I do not think I can answer the question.  I believe




radiation generally induces cancer in areas of the irradiated




tissue.




     Dr. Radford:  Let me put it in a slightly different tactic.   You




showed a number of slides today, but I noticed you did not slide




Figure 36, from page 11 on the WASH 1320 report.




     I do not know if you have it in front of you.  It's this one,




showing the plutonic particles on the radiographic lung section from




dogs after several months of inhalation of plutonium 239 oxide, show-




ing a pair of bronchial accumulation of plutonium particles.




     Now right above that,  Figure 35,  which shows it out in the

-------
   716
periphery — I think you did show that slide.  The point I am making




is, if I look at this, some of these particles are parabronchial, but




some look like they are in the bronchi.




     Dr. Bair:  The autoradiograph shows peribronchiolar accumulation




of plutonium particles, not peribronchial.  These are accumulations of




particles near the alveolar regions.




     Dr. Radford:  That is a pretty big bronchus, if it's 50 times.




     Dr. Bair:  I accept the word of our pathologists.




     Dr. Radford:  The point is, one of the questions has been whether




particles can migrate from the mucusiliar screen into the bronchus,




ephithelium; or conversely, whether they can migrate from the sub-




bronchioli arid lymphatics into the bronchial epithelium.




     There has been some recent evidence that has shown that the first




mechanism does not occur, at least for hematype particles.  A rather




significant amount can become embedded, especially, say, in regions of




the bronchi, where they would not necessarily meet with cleansing




mechanisms.




     Are you familiar with this concept?




     Dr. Bair:  Vaguely, yes.




     Dr. Radford:  The question, then, that would come up, if one is




talking about cancer, is from any inhaled material, what is the dose




to the sensitive tissue?  That is what we say in the case of bone, in




the case of thyroid, in the case of lung.




     So we are basically concerned here with a dose to the bronchial




epithelial, right?

-------
                                                                         717
     Dr. Bair:  If there is only one sensitive tissue, I am not sure




that is necessarily the case.  Certainly, in the animal experiments,




the sensitive tissue is not — Let me put it this way, the tumors arise




in the areas where the dose is delivered.




     We do not see bronchiogenic carcinomas very often in experimental




animals.  This really does not tell us anything about relative sensitiv-




ity of the two tissues.




     I would be surprised if plutonium caused a lung tumor in man




which was not the same kind of tumor originating in the same area of




the lung as in these animals.




     Dr. Radford:  Except in the case of radium, anaplastic types of




tumors arising in animals are not the same type of tumors produced by




radionuclides in man, to the extent that we have any human experience




in this.  You do not get the peripheral types of tumors with radon




daughters.




     Dr. Bair:  The dose is delivered in a different tissue in the case




of radon daughters.  In the case of inhaled radon, they are delivered




to the bronchial epithelial.




     Dr. Radford:  Let me try a different tack.




     The French data that you cited has shown squamous carcinoma and




alveolar-bronchiolar carcinoma.  Do you recall the proportions?




     Dr. Bair:  About 50 percent each, but they nearly all originate




in the bronchiolar-alveolar regions.




     Dr. Radford:  I do not think there is any argument that animal




exposures generally are in the periphery of the lung,  where the

-------
  718
tumors occur.  This also is true in the case of plutonium exposure to




a large extent.




     On the other hand, it has been possible to produce radiogenic




cancers in the large bronchi by putting the material there directly.




So it is a matter then, perhaps, of the physiology of the bronchial




tree being different in the two situations.




     Would you agree that is a possibility?




     Dr. Bair:  That is a possibility.




     Dr. Radford:  Another possibility, of course, is that the human




being, exposed as he is to viruses and  a lot of other things,  has a




different bronchial clearance mechanism than the experimental  animal




kept under relatively managed conditions.




     Would you agree that is a possibility, too?




     Dr. Bair:  I would agree that is a possibility.




     Dr. Radford:  That is not getting  us very far.




     The basic question is really getting to the point you raised:  If




plutonium particles do not reach the bronchial epithelial of man, then




they will not be carcinogenic.  This is the point I am trying  to get




at, precisely this point.




     Dr. Bair:  That may very well be the case.  I am not aware of lung




cancer being attributed to plutonium in any human exposure case so far.




     Dr. Radford:  This brings me to the next point, which now impinges




on Dr. Richmond's comments.  What we need to know is the dose  that is




relevant to the tissue that is likely to produce cancer, that  is, to




the bronchial epithelium.

-------
                                                                         719
     That was the basis of my statements earlier today, or questions




about how the sampling is done on these autopsy specimens.




     I was really trying to make a plea that in the subsequent work,




where these rather valuable opportunities to measure the local tissue




dose, that it not be lost, that indeed a special effort be made to




dissect out the bronchial tree and to measure the local concentration




in the bronchial tree as distinct from the paren.




     If we find they are not present there, then this is a further




reduction in the probability of cancer, in my opinion.




     Would you agree with that, Ur.  Richmond?  Or Dr. Marks?




     Dr. Richmond:  I am not sure I understand what your real question




is, frankly.  But let me set the record straight for something I said




earlier today.




     You asked a question about whether or not the entire lung was




sampled in the tissue analysis programs.  My comment, as I remember,




was that probably larger samples were obtained farther back in time.  I




have been told by Herb Parker, who is here and has written an excellent




article on this question recently, that this is not true.




     In fact, if you look at five year increments, the amount of




tissues obtained is increasing as time has progressed by five year




increments.




     I hope I did not give you the impression that only the lung




periphery is used in the analyses.




     Dr. Radford:  But no effort is  made to specifically dissect out




the bronchi in any of those?

-------
   720
     Dr. Marks:  That is correct, as far as I know.




     In one case, they have tried to separate out the pleura from the




bronchi, but no effort has been made to separate out the bronchi.  The




bronchi are included within the lung tissue in the analysis of whole




lungs, which is done quite frequently now; but this, again, is not




what you are seeking.




     Dr. Radford:  If, for some reason, the concentration in the




bronchi were lower than we expected or if for some reason the con-




centration in the bronchi were higher, you would not be able to detect




it because you have averaged it over the whole lung.




     Dr. Marks:  We will make this recommendation to the people who




are doing this work.  They may have done so in special cases, but, if




so, we are not aware of it.




     Dr. Radford:  I think you can see the purpose of my comments on




this.  If we are going to talk about radiation exposure to sensitive




tissue just as in the case of the hair follicle, we ought to be talking




about sensitive tissue in man.




     It seems to be the most sensitive, the bronchial epithelial,




influenced by a lot of other things.




     Dr. Bair:  I should mention that Dr. Park has done some dissections




on lungs provided by the Transuranium Registry, but I cannot give you




the results.




     Dr. Radford:  But they are separting out separate tissue?




     Dr. Bair:  Yes.

-------
                                                                        721
     Dr. Radford:  I think that makes the main point.




     Dr. Richmond:  I think I would be remiss if I did not say some-




thing as a scientist.  I do not wish to engage in polemics right now,




but a lot of comments were made previously about work that I had done.




     I feel quite disappointed, actually, that Ur. Tamplin did not make




the point that of the two pieces of research that he referred to, one




was specifically done to check the theoretical speculations or model,




whatever you prefer, for the hot particle case.  I was rather distressed




that he did not point out that in each case, when the animals were given




2,000 particles, each of which qualified for hot particle, tumors did




not develop, except in several cases, when the theory predicted that




every animal should have produced a tumor.  The other evidence related




co cytological changes with earlier experiments which I. did.   It is true,




there were cytological changes produced, but the thrust of the paper




was that tumors were not produced.




     I find this rather distressing.  I think I would be remiss if 1




did not point this out.




     I would also like to point out, for the benefit of the committee,




that the people in the United Kingdom have examined the petition and




have commented on it in the radiological protection bulletin of the




National Radiological Protection Board.




     I urge you strongly to read it, as another view on this subject.




There is also the report (LA-5810-MS)(Note:   This report is located




in Vol.  3 of in these proceedings) which has been sent recently to the




chairman of the panel and to other people, including Mr. Speth, from

-------
     722
NRDC, which was prepared by Healy and others at Los Alamos.   It is a




review of the NRDC petition.




     The WASH 1320 was not meant to be a specific review of  the NRDC




petition, but the Los Alamos document which is now available is meant




to be a review of the NRDC petition.




     Dr. Bair:  I have one further comment regarding the hot particle




problem.  I am beginning to feel that the hot particle issue is becoming




something of a red herring because we are spending so much effort argu-




ing about the uniform and non-uniform distribution of dose that we are




beginning to ignore the real problem, and that is the public health con-




sequence of a given deposition of plutonium.  I hope we can  get away




from the hot particle issue, and deal directly with the toxicity or




carcinogenic properties of inhaled plutonium.




     The sudden attention recently given the hot particle issue is




really misleading, because it was recognized more than 10 years ago




that plutonium is nearly always present in lung as particles or aggre-




gates, even if it is inhaled as a soluble compund.




     So we are, in fact, dealing with a hot spot problem, but the




important issue is the relationship between and the amount of plutonium




deposited in the lung rather than whether the plutonium in the lung




qualifies as "hot particles."




     Dr. Radford:  I would like to add just a couple of notes.




     First, with regard to the experiments that Dr. Richmond and his




colleagues carried out, I think it is unfortunate that the test was




made, although it did speak to the issue that has been raised today by

-------
                                                                         723
Dr. Tamplin, but still I do not think it answers the issue.




     I do not know if Dr. Richmond would agree, but the fact that




tumors were not contained when the material was injected intravenously




would not necessarily rule out the possibility, if they happened to be




close to the tissue which might be more radiosensitive, that, by way of




introducing the point again, that if we are concerned about inhaled par-




ticles, we should be concerned about exposure to the sensitive tissues.




     At least, in man, it appears to be largely the proximal bronchio




epithelial rapidly dividing cell system, not too dissimilar to skin,




but probably having very different characteristics.




     The question, basically, as I see the hot particle problem is if




you have a radiation source which at its circumference is leading to a




few hundred rads per day or even a few hundred rads per year, and then




decreasing off to a lower dose — and I would hope that someone would




present a dose distribution for a variety of particles — I think this




would be a useful exercise, mixed oxide and so on with different alpha




energies — The question is, do you have an extremely high probability




of finding just the right dose applied to cells that are sensitive.




That, to me, is the hot particle issue.




     Can a few cells irradiated with just a critical dose lead to a




cancer?  Unfortunately, I do not think we have addressed that issue




very thoroughly in this hearing.




     Dr. Richmond:  Just to comment very briefly,  I understand your




concern because of your personal research interest, obviously, but I




may point out you might be interested, if you get a chance some time,




to visit Los Alamos and talk to the pathologist and look at some of

-------
  724
their slides because that particular technique does offer you the




opportunity to have exposed a wide distribution of various tissues types




within the lung since the particles are filtered out by capillaries,




and the capillaries occur in all different portions of the lung.




     You can see from the radiographs,  for example, or the microscopy,




that these particles do indeed lodge near many target tissues in  the




lung.




     Dr. Burr:  I just want to mention, this came up earlier in the




afternoon, whether or not comments were available from Dr. Lushbaugh.




We have a letter written to Mr. Rogers  from Dr. Lushbaugh.




     I know Dr. Lushbaugh would be pleased to have it introduced  into




the record.  (Note:  see preceding material submitted by the AEG.)




     Dr. Mills:  There will be a small  change in the program.




Mr. Frederick Forscher from the Energy  Management will have some  time.

-------
                   FREDERICK  FCTRSCHCR


                 £nf-iau <^{anaqt: incut Consultant                          7 9 ^
                    JJ     J                                        1 Vrf «J

          65HU BEACON STREET   PITTSBURGH, PA. 1521V



                        412/S21-O615
                        Testimony  of


                 Dr. Frederick  Forscher
           Chairman of Standards  Committees

N 46.4 Design Criteria for  Fuel Fabrication Facilities

N 46.8 Fireprotection for Fuel Cycle  Facilities.
                at a public hearing  of  the




           U.S.  EPA - Office of Radiation programs
                          on


  Plutonium and the Other Transuranic Elements  :  Information

              Required for Standards Development.
            At the EPA Offices , Washington,  D.C.



              December 10 and 11. 1974.








  MEMBER: ASME  A1ME  ANS  ASM AIF  iNMM AAAS  ANS!  ASTM

-------
726

My name is Frederick Forscher, I am a Consulting Engineer, specializing in the
area of energy management, a new profession involving economics, engineering and
ecology.  I am testifying today in my capacity as chairman of ANSI's subcommittee
N 46.4 whose subject matter covers criteria and standards for nuclear fuel
fabrication facilities.

Since early in 1972 a working group of this subcommittee has worked on the
development of an A+ priority standard: N287 "Criteria for the Siting, Design
and Operation of Plants for the Manufacture of Mixed Oxide (U-Pu) Fuels,"
The standard has gone through five drafts and a formal balloting.  The
committee is now in the process of resolving any and all comments received
from the balloting action and plans to submit the final version of the
standard to the BSR (Board of Standards Review) early next year.

I believe that some of the background, considerations, and conclusions of
the deliberations of our subcommittee should be of interest to this hearing.
In presenting this testimony I'd like to emphasize that this standard has not
yet been approved by the AEC, EPA, nor the BSR of ANSI, and that the manadatory
"shall" provisions in N 287, as in any voluntary consensus type technical
standard, are not to be construed as regulatory conditions.  They merely re-
present the considered judgment of well informed and interested members of
the working group made up of representatives of a multitude of societal interests.

The purpose of the standard is defined in Section 1.0 as "These criteria
establish the necessary siting, design, fabrication, testing, and performance
requirements for structures, systems and components important to safety, to
the physical security and accountability of special nuclear materials, and to
the protection of the environment; thus to provide reasonable assurance that a
facility, meeting these criteria, can operate without undue risk to the health
and safety of employee and the public, to the national security, and to the
natural environment."

BACKGROUND

Early in 1972 I became chairman of N 46.4 and established, with the help of
the nuclear insurance pools (NEPIA-Maerp, and NELIA-Maelu), the subcommittee
whose work I am about to report on.  At the annual meeting of the ASME in
November 1972 I presented a talk "Toward Criteria and Design Standards for
Large (U-Pu)-Oxide Fuel Fabrication Plants."  The introduction to this paper
is quoted here to serve as a still appropriate background to this standard
development effort.

The continued progress of the nuclear industry depends on its performance,
safety record, and public acceptance.  We will achieve public acceptance if we
show reliable performance and demonstrate safety in all phases of the industry.

Public concern and regulatory emphasis over the past years has concentrated on
power reactors.  Too little attention has been devoted to the remainder of the
fuel cycle, particularly all aspects of plutonium utilization.  It is clear
that in the near future public concern and regulatory surveillance is going
to shift toward the other facilities in the fuel cycle, such as reprocessing
plants and fuel fabrication plants, as well as the associated waste disposal.

-------
                                                                        727


"It should be noted that reprocessing plants are covered under 10CFR50 and by
practically all other regulations that apply to reactors as well, including
Price-Anderson coverage.  On the other hand, fuel fabrication facilities are
not so covered, and their performance, experience, and safety evaluation are
not generally available.  The most important of these facilities, from the
public Health and Safety point of view, as well as because of its national
security aspects, is the next generation of plutonium fuel manufacturing
plants (PFMP's).  By PFMP is meant a facility with production capability for
power reactor fuel elements at the rate of, at least, 50 metric tons of mixed
oxide per year.

"No such facility exists in this country today, but several are needed by the
late 1970's.  True, their number and cost will not approach those of power
reactors.  Yet, the absence of PFMP's effectively prevents the utilization of
plutonium for recycle in LWR's, as well as its use in breeder reactors.  Without
such fuel fabrication plants, the era of breeders remains sterile.

"Why has so little been done in such an important area?  The answer lies in
lack of leadership.  The nuclear industry just did not provide the necessary
technical and social/economic leadership that is called for.  It is generally
conceded that plutonium hazards are the most serious hazards to the public in
the long run.  Plutonium will be the battle-cry of the anti-nuclear forces for
many years.

"Segments of the nuclear industry that are, or should be, concerned with the
PFMP design include the fuel manufacturers, the cognizant regulatory agencies,
also A/E's, Insurance pools, environmental protection agencies and consultants,
and some people in the area of breeder technology.  This diversity of interest
has been pre-occupied with more serious problems, causing expensive delays in
the power reactor area.  There is also much uncertainty how NEPA will apply to
the PFMP's and what the Environmental Impact Statement should contain.  Futher-
more, there is the confusion associated with the license requirements for
material protection, safeguards, and national security, and also with the imple-
mentation of the Non-Proliferation Treaty that opens our domestic PFMP's to
teams of interantional inspectors from the IAEA.

"Perhaps the most significant aspect of the work connected with standards develop-
ment is the need to come to grips with a variety of judgmental factors in
numerical, or at least quantitative, form.  Only quantitative and measurable
requirements can avoid interminable procedural disputes, which are the results
of vague language, such as "as low as practicable," or "as reasonably safe,"
or "as technically available and feasible," etc.  Standards ought to be clear
enough (and so should be laws and regulations) to allow a competent designer
to use it as his design objective.   Not stating these factors explicitly in the
first place, but then challenging the chosen limits in public hearings or in
the courts, just does not make any sense.

DESIGN BASIS ACCIDENTS AND EVENTS

"Every engineering design involves  judgmental factors.   The lack of public
acceptibility of these factors,  and the lack of industry's credibility with the

-------
728
public have been a source of agony.  Much could have been avoided had there been
a body of voluntary  consensus standards that could replace some or most of these
judgmental factors in design.

"The best known of these factors are in the economic domain, because engineers
are trained to produce a "safe design at lowest cost."  But, how safe is safe
enough?  What is the numerical value of the safety factor and how is it arrived
at?  In addition, the designer must now also consider emission limits and
exposure levels over the total life time of the facility, counter-sabotage
protection, physical security, etc.  They must be properly balanced and developed
quantitatively by consensus of experts.

It nay seem to some  novice in standards' work that this multitude of requirements
can never be met by  general design criteria or standards without referencing a
specific plant design.  However, this dilemma arouse before in reactor design,
and it was resolved  by the introduction of the concept of a Design Basis Accident.
For the LWRs the design basis accident was considered to be a postulated
Loss of Coolant Accident (LOCA).  In the case of the PFMPs the matter is even
more complex.  The following definition was adopted:

THE DESIGN BASIS ACCIDENT is a postulated event or sequence of events leading
to a condition for which the confinement system must meet its functional goals.
The confinement system is ~. series oC physical barriers, which together with an
operating ventilation system minimizes the release of radioactive materials
to the environment under normal and abnormal conditions.

The confinement system is further defined.  The primary confinement is the barrier
which is or can be directly exposed to plutonium, e.g. sealed process
equipment (pipes, tanks, hoppers, etc.) gloveboxes, caissons, and cells, and
their ventilation systems.  Fuel rod cladding, and other sealed containers can
be considered as primary confinement.  The secondary confinement is a barrier
enclosing a room or  compartment in which the primary confinement is located.

Ventilation zone I is the space within the primary confinement and its associated
ventilation system.  Any space, that during the course of normal operations,
may contain plutonium.  Ventilation zone II is the space within the secondary
confinement and its  associated ventilation system, serving as operating areas
and potentially contaminted areas adjacent to ventilation zone I.

Perhaps the most difficult part of the committee's work was the development
of the seven specific design basis accidents and events, the latest version
of which is attached to this testimony.  The postulated accidents and events
consist of the DBA-Fire, the DBA-Explosicn, the DBA-Criticality, the DBA-Power
Failure, the DB-Water, the DB-Natural Phenomana, and the DB-Diversion.
Remember that the number and sequence of these events is not specified, but
that the confinement system (i.e. last barrier) must prevent the escape of
plutonium into the environment under any conceivable combination of these
quantitative postulated design bases.

The DBA's have to be specific enough to allow the designer to proceed, while
at the same time not to restrict his ingenuity and application of uew tech-

-------
                                                                         729

nology.  Two examples are cited to illustrate this point.

The DBA-Fire is that fire which results from the burning of all flammable and
combustible materials within an area enclosed by a fire resistant barrier of
at least a two-hour rating (ASTM E119-71).  The rates of combustion for the
flammable and combustible materials shall be as specified by the Fire Protection
Handbook, 13th Edition, NFPA.

The DB-Diversion is a postulated scenario, by which at least two "effective
kilograms of special nuclear materials" (defined in 10CFR70) are removed from
the facility, either at once or within less than a year's time.  This scenario(s)
includes also any act of "industrial sabotage" (defined in 10CFR73).  The
scenario(s) shall only be disclosed on a "need to know" basis.

ACCIDENT CONDITIONS

The facility has to be designed and operated in such a manner that the probability
of the Design Basis Accident (as defined above) is less than (10) to the -6 percent,
The Appendix to the standard defines four accident conditions of which the
DBA is the most severe.

In the consideration of the risk associated with postulated accidents, the
probability and severity of their occurences and their consequences must be
taken into account.  The risk is equal to the product of frequency and consequence.
Design considerations should provide mitigating engineered safety features
and/or redundant plant services to achieve reliability in the intended safety
function.  Since it is not practicable to consider all possibilities, the
spectrum of accidents, ranging in severity from the trivial to the very serious,
is divided into four Accident Conditions.  Each condition can be characterized
by an occurance rate and a set of consequences.

Condition 1 - Normal Operational Occurances

Accidents of this type do not result in the release of plutonium to areas outside
of the primary confinement.  The probability of such events occurring is relatively
higher than other accident conditions considered, and are considered part of
"normal operations."  The consequences of accidents of this nature are relatively
minor.

Condition 2 - Small Release of Plutonium from Primary Confinement

Accidents under condition 2 result in the release of small quantities of plutonium
to the secondary confinement, without release to the environment.  They are less
frequent and have lower probabilities of occurence then condition 1 accidents.
The consequences of a condition 2 accident would require operational downtime
to make repairs, to replace damaged equipment, and to effect decontamination
within the plant structure.

Condition 3 - Release of Plutonium from Secondary Confinement

Condition 3 accidents result in the release of small amounts of plutonium outside

-------
730
of the secondary confinement.  These accidents are less probable than either of
the previous accident conditions and should have a probability of occurrence of
less than (10) to the -2 per year.  The consequences shall be limited to dose
commitments no greater than the values shown in Table 1, Appendix B as medium
type accidents.  The consequences of condition 3 accidents require considerable
operational downtime of the total processing line, possibly the entire facility.
Condition 3 accidents could result in minor environmental effects beyond the
building.

Condition 4 - Small Release of Plutonium from Confinement System

Condition 4 accidents are equivalent to design basis accidents.  Condition 4
accidents may result in releases of plutonium beyond the site boundary, but not
in excess of the maximum accident release limits.  A person spending two hours
(or the total time of the accident) at the site boundary shall not incur a
dose commitment of more than 25 rem total body, 150 rem to the bone, or
75 rem to the lung.  (Table 1, Appendix B, severe accidents) Condition 4
accidents are much less probable than the foregoing accident conditions and have
a probability of less than (10) to the -6 per year.  The consequences of a
condition 4 accident may be an extended shutdown of the whole facility and an
extensive cleanup operation.

More severe accidents, while possible, have a probability of less then
(10) to the -6 per year.  They are equivalent to probabilities of accidents
beyond LOCA in LWRs.  The consequences would be orders of magnitude smaller
than for a past-LOCA accident.

The values in Table 1 and Table 2 (attached to this testimony) we're
selected to meet the following specific objectives:  They must provide
guidance for site selection, design and operation of the facility; project
employees, the public and the environment; are comprehensive, covering the
full range of possible conditions; are generally consistent with other
regulatory criteria (such as 10CFR20, 50 and 100); and are attainable with
present technology.

The dose commitment and end-point criteria are summarized in Table 1.  Typical
release limits are shown in Table 2.  Considerable judgment has to be exercised
to develop an independent method to connect release limits with end-point
criteria.  The meteorological models and atmoshperic dispersion estimates
for a specific site could lead to slightly different release limits.  The
release limits shown in Table 2 are based on the consensus judgment of the
committee and are reported for guidance to the designer.  Without such release
limits and other quantitative criteria provided by N 287, the designer would
be at a loss for any or all of the limiting conditions on his design.

CONCLUSION

In my opinion, the nuclear industry is grossly underrating the public impact
that the plutonium economy can have on the progress of nuclear power.  It
includes such subheadings as:  the diversion of special nuclear materials, the

-------
                                                                        731


advent of the breeder, choice of commercial isotope separation, physical
security in plants and during transport, and the processing, fabrication
and storing of plutonium fuels.  The significance of this issue resides in the
fact that plutonium is not an element found in our natural environment and
that the biological effects of microquantities of plutonium are known to be
serious.  Consequently we must exclude this material permanently from our
biosphere.  The quantity that may seep into the biosphere from the various
plutonium operations must approach zero.

This standard N287, goes beyond the mere concern for the health and safety
of the public; it includes in its objective - as any plutonium standard should -
the long range quality of our environment and the difficult aspects of safe-
guarding plutonium for reason of national security.  The fact that three or
more different regulatory and security agencies of the Federal government
are cognizant of the various aspects of plutonium utilization tends to push
industrial reaction into similar compartmentalized thinking.  But the
social effects of plutonium are not easily divisible.   This standard is a first,
and perhaps too brave, holistic approach.

In the final analysis it will be the public that determines the trade-offs
between what may be called a "healthful" environment,  and what may be called
a "reasonable" cost for electric power.  This determination is made in an
ongoing adversary, political process.  The chances against plutonium dispersion
and diversion must be better than a million-to-one to overcome a public attitude
that would rather freeze in the dark than take a chance on plutonium.  To achieve
this goal of an acceptable plutonium economy, promptly and reliably, will take
the best technical, economic and organizational skills this country has to offer.

-------
                                    -6-


     732


 5.0  PI-SIGN HAS IS

 5.1  DesignBasis, Accidents and Events

 5.1.1   The PISA-Fire is that fire which  results from the burning of all
 flammob'le materials v/ithin an area enclosed by a fire resistant barrier of
 at least a two-hour rating (ASTM E119-71).   The rates of combustion for
 the flammable materials shall be as specified by the Fire Protection Handbook
 13th Edition, NFI'A.

 5.1.2   The PISA-Explosion is the rupture of  a primary confinement barrier with
 an energy release equivalent to an internal pressure of 105 psig.   (This
 will  result not only in a pressure wave,  but may also generate missiles
 within the process area.)-

 5.1.3   The DBA-Critica1ity is an accidental excursion of heterogeneous
 liquid-powder mixture witn a neutron spike  yield of 10-exp-18  fissions,
 releasing about 30,000 Rtu in less than one second,  or an accidental pulsating
 excursion with a total fission yield of 10-exp-20 fissions.   (This  energy
 release may disperse unencapsulated plutonium from a typical glove  box  and may
 pressurize the room.)

 5.1.4   The DBA-Power Failure is the loss  of "total" electric power  for  60
 seconds, and the loss  of "normal"  electric  power for 48 hours.   Total electric
 power  means all  sources of electric energy,  delivered,  as  well  as auxilliary
 and standby.   Normal electric power means the services  usually  supplied by
 a  utility company.

 5.1.5   The DBA-Water i.3 the result of an Uncontrolled  Water  Hazard:   that is,
 water  which is intentionally supplied to  the plant from a  controlled external
 source and which,  through a mishap within the plant,  is released for 30 minutes
 in a manner which results  in loss  of a  system,  subsystem,  structure  or
 component important to the  integrity of  the  confinement system.  This concept
 includes both the effect of accidental  flooding  within the plant and the loss
 of fecdwater to any equi]wient  which, without adequate water  supply,  would
 prevent the function of the confinement system.

•5.1.6   The PR-Natural  Phenomena is  the effect  of site  related conditions,
 such as,  postulated earthquake,  tornados, floods,  etc.

 5.1.7   The DB-Divcrsion is  a  postulated scenario,  by which at  least  two
 "effective kilogram s  of special nuclear materials"  (defined in 10CFR 70)
 are removed from the facility,  either at once  or within less than a  year's
 time.   Tliis scenario(s)  includes also any act  of "industrial sabotage"
 (defined in 10CFR 73).   The sccnario(s) shall  only be disclosed on a "need
 to know" lias is.

-------
                                  -2-
                                                                   733
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-------
    734
                                       Table 2

                                   RELEASE LIMITS
Condition
Stack ileiRht, m

Normal Operations
Annual Release 2

Medium Release-Medium
Probability Accidents 3

Maximum Release-Low
Probability Accidents 4
                                    Release Limit, mCi ft i-239  Eguiva 1 cnt\
0.1 km Exclusion
0
0.02
0.2
7.
Radius
100m
10
2
70.
1.0 km
0
0.4
10,
350.
Exclusion Radius
100m
10.
20.
700.
Footnotes to Table 2

1 Equivalence based on radio toxi city; for example,  SO Ci 
-------
                                                                                                       735
                                                                                           72-WA/NE-12
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                                       Toward  Criteria  and Design Standards  for

                                       Large (U-Pu)-Oxide Fuel Fabrication  Plants
                                       FREDERICK FORSCHER

                                       Consulting Engineer,
                                       Pittsburgh, Pa.
                                       Mem.ASME
                                       By the mid-seventies plutonium will become available in ton quantities from the
                                       reprocessed fuel of our domestic light water reactors (LWRs). The key to the effec-
                                       tive utilization of this fuel is to get sufficient fuel fabrication capacity on stream.
                                       All of the present facilities are only of pilot plant scale. Criteria and design stand-
                                       ards have to be set promptly and safely to avoid the  licensing delays and public
                                       reactions that have become a way of life in the reactor business.
                                       Contributed by the Nuclear EiiRiiiccrins DiiWon of The American Society of Mechnni-
                                       cal Engineers for presentation ut the Winter Annual Mcclinp, \ew York, \. Y., No*em-
                                       b«r 26-30, 1972. Manuscript rccc'ncd at ASME Headquarters August 1, 1972.

                                       Copies Hill be available until September 1, 1973.
THE AMERICAN SOCIETY OF MECHANICAL ENGINEERS, UNITED ENGINEERING CENTER, 345 EAST 47ttl STREET, NEW YORK, N.Y. 10017

-------
736


 Toward Criteria  and  Design  Standards for
 Large (U-Pu)-Oxide  Fuel  Fabrication  Plants
  FREDERICK FORSCHER
 INTRODUCTION
       The continued progress of the nuclear indus-
 try depends on its  performance, safety record,  and
 public acceptance.   We will achieve public accept-
 ance if we show reliable performance and demon-
 strate safety in all phases of the industry.
       Public attention and regulatory concern over
 the past years has  concentrated on power reactors.
 As more reactors come on line, and their design,
 construction, licensing, and operation becomes  a
 matter of increased standardization, it is clear
 that the emphasis of public concern and regulatory
 surveillance is going to shift toward the other
 facilities in the fuel cycli, such as reprocessing
 plants and fuel fabrication plants, as well as  the
 associated waste disposal.
       It should be  noted that reprocessing plants
 are covered under 10CFR50 and by practically all
 other regulations that apply to reactors as well,
 Including Price-Anderson coverage.  On the other
 hand, fuel fabrication facilities are not so cov-
 ered, and their performance, experience, and safe-
 ty evaluations are  not generally available.  The
 most Important of these facilities, from the public
 Health and Safety point of view, as well as be-
 cause of its national security aspects, is the
 next generation of  Plutonium fuel manufacturing
 plants (PFMP's). By this is meant a facility with
 a production capability for power reactor fuel
 elements at the rate of, at least, 50 metric tons
 of mixed oxide per  year.  No such facility exists
 In this country today, but several are needed by
 the late 1970's. True, their number and cost will
 not approach those  of power reactors.  Yet, the
 absence of PFMP's effectively prevents the utili-
 zation of plutonium for recycle in IWR's, as well
 as its use in breeder reactors.  Without such fuel
 fabrication plants,  the era of breeders remains
 sterile.
       Why has so little been done in such an im-
 portant area?  The  answer lies in lack of leader-
 ship.   The nuclear  industry Just did not provide
 the necessary technical and social/economic lea-
 dership that is called for.  It is generally con-
 ceded that plutonium hazards  are the most serious
hazards to the public In the long run.  Plutonium
will be the battle-cry of the anti-nuclear forces
for many years.
      Segments of  the nuclear industry that are,
or should be,  concerned with the PFMP design in-
clude the fuel manufacturers, the cognizant di-
rectorates, divisions and offices of the AEC,  also
Architect-Engineers, Insurance Pools, environmen-
tal protection agencies and consultants, and some
people in the  area of breeder technology.  This
diversity of interest has'been pre-occupled with
more serious problems, causing expensive delays in
the power reactor  area.  There is also much un-
certainty how  NEPA will apply to the PFMP's and
what the Environmental Impact Statements would
contain.  Furthermore, there is the confusion as-
sociated with  the  license requirements for materi-
al protection,  safeguards, and national security,
and also with  the  implementation of the Non-Prolif-
eration Treaty chat opens our domestic PFMP's  to
teams of international inspectors from the IAEA.
      Because  of all this diversity of interests
that exist in  the  industry, it is not surprising
that so little was done toward development of  de-
sign standards  and criteria.  Early in 1972, a
fresh start was made under the "neutral" auspices
of the American National Standards Institute's Nu-
clear Technical Advisory Board.  A group of con-
cerned professionals, representing all special in-
terests In this issue, volunteered to focus on the
hard (numerical) and judgmental questions with a
knowledgeable  and  impartial attitude for the bene-
fit of the industry as a whole, rather than a pa-
rochial self-interest of its component parts.

OBJECTIVES

      Perhaps  the  most significant aspect of the
work connected with standards development is the
need to come to grips with a variety of Judgmental
factors in numerical, or at least quantitative,
foiT..  Only quantitative and measurable standards
can avoid interminable procedural disputes, which
are the results of vague language, such as "as low
                                                  1

-------
 as practicable," or "as reasonably safe," or "as
 technically available and feasible," etc.  Stan-
 dards ouiht to be clear enough (and so should laws
 and regulations) to allow a competent designer to
 use It as his design objective.  Not stating these
 factors explicitly in the first place, but then
 challenging the chosen limits in public hearings
 or in the courts, Just does not make any sense.
      The purpose of this paper is to present some
 of the Judgmental and numerical factors to the nu-
 clear industry, to the technical community, and to
 the public at large.  These factors are not yet
 final nor are they complete.  It is expected that,
 if and when they are finalized, they could be
 adopted as regulation by the regulatory agency.
 They must satisfy che current spirit of participa-
 tory technology, and they must meet the statutory
 requirements of the Act of 195^ in regard to pub-
 lic health and safety, and in regard to national
 security.  The scope is defined as follows:
      There are three primary considerations for
 the criteria for the siting, design, consvructlon,
 and operation of plants for the manufacture of
 mixed oxide (U-Pu) fuels:
  1  Protection of the general public and envir-
     onment
  2  Protection of site personnel
  3  Control of nuclear materials
      It is planned to folio", as much as possi-
 ble, the criteria of 10CPR50 (and Appendices), and
 any applicable design standards, safety guides,
 specifications or codes, etc.  There is no intent
 to duplicate any existing standards or any work in
 progress.  Accordingly, we have drafted the three
 Introductory paragraphs (Table 1), following
 closely the language of Appendix A, and which para-
 graphs further define the scope of our effort.
      The first two paragraphs address themselves
 to the statutory requirements of the Act of 195^,
 while the last paragraph applies to the National
 Environmental Protection Act of 1969 (NEPA).  It
 Is worthwhile to point out, that only the first
 paragraph, in connection with the Health and Safe-
 ty of the Public,  is a citation from Appendix A.
 The second paragraph is a paraphrase of the same
 Idea, but in connection with the equally important
 aspect of National Security.   The second require-
 ment assumes about equal importance in operating
 any PFMP,  but appears of lesser significanae in
 the case of a power reactor.
      These introductory paragraphs seem to be
 suitable for ?>ny fuel fabrication facility.   In
 the case of Pu-fuel,  it could equally well  apply
 to Pu-alloy,  mixed carbide, or mixed oxide  fuel.
However,  in order  to be most  responsive to  present
 needs,  to  take advantage of the  widest  technical
       Table 1  Design Criteria Objectives

      These criteria  establish the necessary de-
 sign, fabrication,  construction,  testing, and per-
 formance requirements for  structures, systems, and
 components important  to  safety; i.e., they provide
 reasonable assurance  that  the facility can operate
 without undue risk  to the  health  and safety of the
 public.
      In addition,  some  criteria  establish the
 necessary design, fabrication, construction, test-
 ing, and performance requirements for structures,
 systems, and components  important to the physical
 security and accountability of special nuclear ma-
 terials ; i.e., they provide reasonable assurance
 that the facility can operate without undue risk
 to the national security.
      In addition,  some  criteria  establish the
 necessary design, fabrication, construction, test-
 Ing, and performance requirements for structures,
 systems, and components  Important to the protec-
 tion of the environment; i.e., they provide rea-
 sonable assurance that the facility can operate
 without undue risk  to the quality of the envir-
 onment .
base, and to aim for a reasonably short completion
date of the criteria to be developed, our committee
decided to forego, at present, all considerations
of the hazards associated with metallic or carbide
fuel, and concentrate only on mixed oxide fuel.
This type of fuel represents clearly the largest
volume of Pu-fuel for plutonium-recycle in LWRs,
as well as for the first generation of LFMBRs.

DESIGN BASIS ACCIDEI.T

      Every engineering design involves Judgmental
factors.  The lack of public acceptability of these
factors, F.nd the lack of industry's credibility
with the public have been a source of agony.  Much
could have been avoided had there been a body of
voluntary consensus standards that could replace
some or most of these judgmental factors in de-
sign.  The best known of these factors are In the
economic domain, because engineers are trained, to
produce a "safe design at lowest cost."  But, how
safe is safe enough?  What Is the numerical value
of the safety factor and how is it arrived at?
In addition,  the designer must now also consider
emission limits and exposure levels over the total
life time of the facility,  counter-sabotage pro-
tection,  physical security, etc.   They must be
properly balanced and developed quantitatively by
consensus of  experts.

-------
738
        It may seem to some novice in standards'
  work that this multitude of requirements can never
  be met by general criteria and design  standards
  without referencing a specific plant design.  How-
  ever, this dilemma arose before in reactor design,
  and it was resolved by the Introduction of the
  concept of D?slgn Basis Accident (DBA).  For
  LWRs, the Loss of Coolant Accident (LOCA), as de-
  fined in Part 50, is the accepted DBA.  For trans-
  portation of nuclear materials in approved con-
  tainers, the DBA consists of a 30-ft drop test,
  followed by a specified fire, and finally ended
  by water immersion of the test container.  In line
  with such precedents, and in accordance with the
  language to be modeled after 10CPR50,  it was clear
  that designers need a clearly defined  DBA for the
  mixed oxide plants.  It is equally clear that an
  accident so defined will be strictly a design
  basis, and most likely will never happen in a real
  plant situation.  (Table 2:  Definitions).
        There is general agreement that  the protec-
  tion of the integrity of the final containment —
  the one separating the Inside of the containment
  system from the environment at large — must be
  the subject of utmost concern.  For this reason,
  the facility must include structures,  systems, and
  components which have specific safety  functions.
        The containment system is defined as that
  series of physical barriers which prevents the re-
  lease of radioactive materials to the  environment
  under normal and abnormal conditions.  The con-
  tainment system must be so designed as to maintain
  Its Intended safety function under abnormal condi-
  tions, both internal and external to the facility.
  This design objective can be reached if the ab-
  normal conditions are clearly stated in quantita-
  tive terms.
        External abnormal conditions may result from
  natural phenomena that are site dependent, such as
  tornadoes, earthquake,  differential settlement,
  floods, loss of power,  loss of other utilities,
  loss of access and communications, etc.  External
  abnormal conditions could also be man made, such
  as riots and insurrection,  impact by a falling
  airplane,  fire or explosion in an auxiliary facil-
  ity or nearby building,  collision by derailed cars
  and engines, leaking chemicals, sewage explosion,
  and others.
        However, we are primarily concerned here
  with the internal abnormal conditions  which are
  more analogous to the LOCA, and consist of acci-
  dental criticallty, fire, explosion, power fail-
  ure, and uncontrolled water.  The importance of
  defining these occurrences numerically and quan-
  titatively cannot be overestimated. The numbers
  must be defendable, simple, and useful in design.
        The DBA Criticallty is a burst of lO1^ fis-
               Table 2  Definitions

      1  Standard — The stated result of a par-
ticular standardization effort approved by a recog-
nized organisation, and which has been achieved by
general consent, or common use:  A standard usual-
ly establishes a definite level, degree, material,
quality and the like, as that which is proper and
adequate for a given purpose.
      2  Criterion — A statement of principles,
rules, or regulations which serves as basis for
Judgment, or decisions.
      3  Design basis accident — A postulated
event, or sequence of events, leading to an acci-
dent (e.g.: breach of containment system) which
the design aims to prevent.
      4  Containment system — A series of physi-
cal barriers which prevent the release of radio-
active materials to the environment under normal
and abnormal conditions.
sions with an energy release of 200 Mev/fis.  The
type and quantity of fission products is process
dependent.
      The DBA Fire for each process area shall be
that which generates as a minimum 1000 Btu/sq ft/
min., plus that amount i>f heat potential in the
primary containment and all contents therein, for
a period of 30 min., except for processing areas
using significant quantities of flasunable hydro-
carbons (solvent extraction area), where the DBA
Fire generates 10,000 Btu/sq ft/min. for 30 min.
      The primary containment is that physical
barrier that is closest to the plutonlum contain-
ing substance.  The Process Area Is the space be-
tween the primary containment and the next fire
resistant physical barrier.
      The DBA Explosion is a rupture of a primary
containment at an Internal pressure of 105 psi.
Please note that this will result not only in a
pressure wave, but also in missiles within the
process area.
      The DBA Power Failure is the loss of total
electric power for more than 60 sec and the loss
of normal electric power for more than 4-8 hr.
Total electric power means all sources of electric
energy, delivered, as well as auxiliary and stand-
by.  Normal electric power means the services usu-
ally supplied by a utility company.
      The DBA Uncontrolled Water is a break inside
the plant of the main pressurised water supply for
30 min.  Please note that uncontrolled may imply
"too much," or "too little" for safe operations.
      The Design Basis Accident for the PFMP is
defined as a breach of the containment system.

-------
 whether resulting from natural  phenomena  or  the
 occurrence of a single event. Including crltlcali-
 ty, explosion, fire,  power  failure, and uncon-
 trolled water; or a  conssquential  combination
 thereof. Initiated by a single  event  internal or
 external to the facility.
       With the DBA firmly established, one can now
 proceed to use the designer's prerogative and in-
 genuity in the actual design of the PFMP.  Natural-
 ly, many other established  standards  must be fac-
 tored into the design.   Here I  have in mind  criti-
 cality limits, personnel exposure  limits, MFC's
 for air and water effluents, shielding data, and
 many others.
       In this connection, it Is well  to point out
 that the designers must, of course, consider other
 accident conditions besides the DBA defined in the
 foregoing.   It is  suggested to  follow the Annex to
 Appendix D of 10CFRJO titled, Discussion  of Acci-
 dents in Applicants Environmental  Reports.  Several
 classes of accidents  are defined,  each class being
 characterized by an occurrence  rate, and a seb of
 consequences.   It  is  not too difficult to come up
 with a similar series  of classes of accidents for
 the PFMP,  ranging  from the trivial to the cata-
 strophic .

 ESTIMATED  ECONOMIC EFFECTS

       The  rational for  the proposed DBA was pri-
 marily to provide  "reasonable assurance that the
 facility can operate  without undue risk to the
 health and  safety  of  the public."  However, there
 are two other Design  Criteria Objectives  (Table 1)
 which will  also "harden" the facility and thus in-
 crease the  cost.   Provisions must be made to satis-
 fy  the "reasonable assurance" clause, that the
 facility can operate without undue risk to:   (a)
 the  national  security, and (b)   the quality of the
 environment.
       For  the latter  category,   for example, it is
 quite reasonable to expect that  no contaminated
 liquid waste  is allowed to leave the plant through
 an  effluent.   This requirement  would call for
 evaporators,  solidifiers, storage, etc.   Leachable
waste  could be decontaminated with liquids,  and
 burnable waste may involve incineration and liquid
processing of  the residues.   In any event, satis-
fying  the environmental quality requirement will
add  to  the capital cost and  operating cost of the
facility.
      Regarding the "reasonable  assurance" clause
for national security, we should, for example,  ex-
pect requirements that include  counter-sabotage
provisions and material security devices  of  quite
sophisticated design,  such as the new line of non-
destructive Instruments which can detect,  by ac-
 tive  or passive Interrogation, the quantity, loca-
 tion, species and movement of special nuclear
 materials.  Diversion of Plutonium Is a threat
 that  cust be taken serious.  The scenarios by
 which this material might be stolen are only lim-
 ited  by the imagination of the science fiction
 writers.  One obvious scenario, however, would be
 a  false evacuation alarm, i.e., a plant evacuation
 initiated by the dlverters.  All persons present
 inside the plant would scramble for the nearest
 exits; some would carry with them significant
 quantities of plutonium.  An external and con-
 trolled access perimeter must be provided for such
 or sir.ilar eventualities.
      Sabotage can be described In scenarios cov-
 ering a whole range of threats.  It Is useful to
 classify these threats within a spectrum of sever-
 ity,  ranging from the trivial case of pilfering
 (say, plastic containers) to a full blown organized
 and mechanized attack of a para-military nature.
 Like  the range of "classes of accidents" discussed
 in the foregoing (Annex to Appendix D of 10CFR50),
 we must define the central portion of the spectrum
 of threats, against which the design will offer
 the "reasonable assurance" against undue risk.
 All these examples point In the direction of
 "hardened" — which means more costly — facili-
 ties.
      Let us assume that because of all these con-
 siderations, the necessary capital investment
 would actually double.  What would be its effect
 on the fuel cycle cost?  One simple way to fet  a
 ball-park answer to this question is to look at
 the various components that make up the total gen-
 erating cost.   Without reference to a specific
 plant, type, size, or year of completion, I pro-
 pose to use the following rough figures:

     Plant cost --------5.50
     Fuel  cost  -------- 1.60
     Operation, maintenance  - - 0.40
        Total                  7.50 mills/kwhr

 We know that the design and fabrication of the
 fuel  ar.ounts to only about 25 percent of the fuel
 cost.  (Most of it, nearly ?0 percent, is the in-
 herent fuel value of enriched uranium and plutoni-
 un.)  Hence, the fabrication service cost is 0.40
 nills/kwhr.  Of this value, only about 5 percent
 can be charged to facility depreciation; i.e.,
 0.02 rdlls/kuhr represents the facility cost.  If
 the hardening of the PFMP doubles this cost, we
would be paying another 0.02 mjlls/kwhr for the
 safety and reliability of our fuel supply.
      The same argument, of course, can be made
 in terns of dollars per kg of fuel, which is the
preferred marketing method.   Manufactured fuel  may

-------
      r. mi
      -
cost $60/kg, plutonlum (recycle) fuel may cost,
perhaps, $100/kg, all exclusive of the Intrinsic
value of the U or Pu In the fuel.  If the 5 per-
cent doubles because of the hardening of the fa-
cility, It would cost $105/kg to buy plutonlum
fuel.  No doubt, the plant capacity and, more Im-
portantly, its annual throughput will have a major
effect on the unit cost.
      We must remember that the foregoing assump-
tion, of doubling the facility cost because of
hardening, Is very conservative and unlikely.  A
fuel plant that could normally be built for $12
million, will not likely require a $24 million in-
vestment under these hardened circumstances.  But
even with the assumption of doubled facility cost,
we conclude that the effect on the "generating
cost" would be much less than 1 percent (i.e.,
0.02 mills/lcwhr in 7.50 mllls/kwhr).  In any cost-
benefit analysis, that would weigh heavily in
favor of hardening the plants, particularly when
plutonlum Is Involved.

ACKNOWLEDGMENT

      Parts of this paper are based on delibera-
tions and discussions of ANSI's standards commit-
tee H101-4 (now N46-4) of which the author has the
honor to be chairman.  The contribution of the
comnlttee members are appreciated.  The charter
for this committee covers all nuclear fuel fabri-
cation facilities.  The parent committee N101 (now
N46) is sponsored by the AIChE.

-------
                                                                         741
     Dr. Mills:  Thank you.




     Are there any comments or questions from the panel?




     Dr. Radford?




     Dr. Radford:  Dr. Forscher, you are an engineer, correct?




     Dr. Forscher:  Yes.




     Dr. Radford:  What are the professional backgrounds of the ANSI




standard setting committee?  This particular one.




     Dr. Forscher:  This particular committee was composed of members




who had experience in plutonium work and are currently employed by




organizations such as insurance pools, contractors, AEC (general man-




agers side as well as from the standards group), EPA, health and




safety group.




     Dr. Radford:  Basically, are they all engineers or are there any




biomedical people on the Committee?




     Dr. Forscher:  There are no biomedical people on this committee.




This is a group, N 46.4 which is chartered to develop standards for




fuel fabrication facilities, in other words, consideration of design,




operation and quality assurance of these structures.




     These are the components, that we must maintain the safety.




     Dr. Radford:  Have you compared the emission rates that would apply




to these accident conditions, I presume, in Table 2?  Would you compare




these with standard emissions that might occur from other facilities or




even fuel fabricating facilities under the current regulations?




     Dr. Forscher:  Yes, we have.  They are tighter, more conservative.




     Dr. Radford:  They require closer containment of plutonium than do




the current standards?

-------
742





      Dr.  Forscher:   Yes  but,  as  I mentioned  in  the  objective,  the




 numbers which appear in  Tables 1 and  2,  are  achievable with  present




 technology by consensus  of  many  people  in  the AEG,  EPA and contractors.




      As I also mentioned, these  people  on  the committee  do not re-




 present these organizations.  They  represent themselves  and  use their




 best judgment on this problem.   We  come up with a consensus.




      Whether they are employed by EPA or AEG or insurance pools,  et




 cetera, I do not think they express official views.  As  I said in the




 beginning,  this standard has  not been accepted  by the AEC or EPA.




      Ur.  Radford:   Can you  give  us  a  ballpark figure, how much more




 restrictive this kind of emission standard would be  compared with the




 emission  standard now permitted?




      Dr.  Forscher:   I cannot  really give you a  number there  because we




 have tried to translate, interpret, the MFC's which  appear in  Part 20




 into dose commitment,  and this translation of exposure to dose commit-




 ment is 50 years by itself.




      Dr.  Radford:   So it is a reduction of about 50? These  knowledge-




 able people who work for the  industry feel that this is  attainable




 and therefore, it comes  under the as  low as  practicable  aegis; that it




 is  practicable and  therefore  it  should  be achieved.  Would that be a




 fair statement of the committee's feeling?




      Dr.  Forscher:   The  committee feels that the standard as presented




 is  practical.  This committee does  not  speak for industry.   Whether




 industry  feels that it is practical is  another  thing.




      Dr.  Mills:  Dr.  Morgan?

-------
                                                                          743
     Dr. Morgan:  Dr. Forscher, I notice that in Condition Four, you




gave the dose limits of 25 rem total, along with 150 rem to the bone,




and 75 to lung.  But these figures omitted the levels for the thyroid,




which might receive the highest part of the dose from any type of




accident.




     Is that intentional?




     Dr. Forscher:  It is not intentional, Dr. Morgan.




     Dr. Morgan:  There might be reason.




     Dr. Forscher:  In the appendix table, we list dose commitments




to the whole body, skin, bone and thyroids and other critical organs.




     Dr. Morgan:  I notice in your Table 2, that you use plutonium 239




equivalents, but there is not indication, for example, what the equi-




valence might be of plutonium 238.




     Do you happen to know what was used as the equivalent per gram




basis?




     Dr. Forscher:  No.  I do not.  You understand, this standard was




written for a specific type facility, a manufacturing facility, manu-




facturing commercially available large scale mixed oxides of plutonium




which makes uranium oxide.




     There is very little plutonium 238 in there, so we have not




concerned ourselves with plutonium 238.




     Dr. Morgan:  There is quite a bit of plutonium 238 in alloys,




though, as well of course as plutonium 241.




     Dr. Forscher:  Yes, there is a whole range of isotopes.  Under-




stand, I do not have it with me.  I will send it to you.

-------
744





     We have calculations of the equivalents.  I am not sure if we




included conventional points to 238.




     Dr. Mills:  Dr. First?




     Dr. First:  I would like to just clarify a point of the release




limits.  It is my understanding that the ANSI committee's objective is




to develop engineering, construction, maintenance,  et cetera, standards




for achieving particular standards, and that it is  not the part of the




ANSI committee to establish the standards here, but only the method of




achieving them.




     Is this not correct?  In other words, these are not standards




which are recommended by the committee that differ  in any way from




those that have been published.  Is that not correct?




     Dr. Forscher:  They should not contradict or be different from




any of the others that have been published.  We have, in our committee,




attempted to be as quantitative as possible and stay away from general-




ities such as "as much as is practical" and "economically feasible,"




and also to help the designer to overcome this judgmental gap.




     This is what the purpose of the ANSI committee is.  To provide




the limiting conditions, the criteria, so that the  designer, within




these limited conditions, can design facilities which are economical




and at the same time safe.  If you do not give him the numbers of the




emission limits to shoot for, he would not know where to begin.




     Dr. First:  I think we can agree that criteria are needed, but I




think we are talking about several different criteria here.  This is




the point I am trying to get to.

-------
                                                                          745
     The objective of the committee is not to establish new criteria




for uptake of radioactive materials.  Is that correct?




     Dr. Forscher:  That is correct.




     Dr. First:  So you have worked on the criteria which are in




existance, the existing ones.  You are not suggesting that these should




be changed in any way.  Is that correct?




     Dr. Forscher:  That is correct, but in order to provide guidance




to the designer on this, we had to start with some assumption of dose




commitment.  Working backwards from this dose commitment, including




meteorological models which distribute —




     Dr. First:  I think we understand this, but the point I am trying




to make is you have accepted the standard which now exists as being the




one to which the ANSI standard is addressed.




     You have not considered whether or not this standard, environmental




standard, should be increased or decreased.




     Is that correct?




     Dr. Forscher:  We have interpreted the current standard in terms




of dose commitment, which I do not think is generally interpreted




this way.




     Dr. First:  You have interpreted it, if I understand you correctly,




in terms of emission standard.  Is that correct?




     In other words, you have taken the permissible dose to the popula-




tion and you have extrapolated that to some distance from the plant,




through a stack of a certain height.  You have then concluded that




based on the standard, you are permitted to emit certain quantities of

-------
746






plutonium for a year.




     Is that a correct interpretation?




     Dr. Forscher:  That is right.




     Dr. First:  You say this is attainable and your figures show




this.  Is a lower standard attainable as a practical matter?




     Dr. Forscher:  I do not think there is a generally applicable




answer to this question.  I can only report that our preparation advised




itself of this for ours.




     We came away with a consensus feeling that our emission limit is




about as low as is practicably, attainable, with current technology.




     Dr. First:  So, from the standpoint of the committee, the present




standard is as low as practicable.  Is this a correct interpretation?




     Dr. Forscher:  Yes.




     Dr. First:  Thank you.




     Dr. Mills:  One question having to do with clarifying the status




of the standard as you proposed.  Knowing how most of the ANSI com-




mittees work, it is usually one man's effort to actually put the docu-




ment together.




     When you say it is up for formal balloting, are you saying that




the members of the subcommittee have not voted on this as yet?




     Dr. Forscher:  In our committee at least, it is not a one man




effort.  It has gone through many internal reviews before we went out




to have the working group comment on it.




     Then, after these comments were accommodated in Draft Five, it was




allowed to go for voting by the full committee; N 46 committee is a

-------
                                                                          747
subcommittee of ANSI.  All standards for fuel cycle facilities are




under N 46.  This voting is a formal voting which is advertised in the




ANSI Bulletin, which announces all such actions, not only for nuclear




standards.




     Consequently, we got considerable comments from societies, industry,




regulatory agencies and so forth.  These comments are being resolved.




     After they are resolved, the standard with the resolution and the




reason for the resolution is then submitted to the Board of Standards




Review, BSR, for formal approval of the standard.




     If they are satisfied with our resolution of the questions that




came in with this formal voting, balloting, then they will agree that




the standard should be issued as another voluntary type standard under




ANSI auspices, based on voluntary, technical consensus.




     Dr. Mills:  To date, the subcommittee members have not voted or




commented on it?




     Dr. Forscher:  We are in the process of resolving all the comments




we have.  We have formally balloted and got all the comments in, and




we are in the process of resolving all comments which have come in.




     We are one week away from finalizing it.




     Dr. Mills:  Thank you very much,  Dr. Forscher.




     We will adjourn until 1:30.




     (Whereupon, the hearing in the above entitled matter recessed at




12:50,  to reconvene at 1:30 that same  day.)

-------

-------
                                                                          749
                        AFTERNOON SESSION







     Dr. Mills:  We will get started this afternoon.  For the remainder




of the day, we have a very full schedule, so I hope everyone will make




the effort to do what they can to help the schedule along.




     We will start out this afternoon with Mr. Lester Rogers, from the




U. S. Atomic Energy Commission speaking on the regulatory aspects of




this problem.




     Dr. Radford:  Mr. Chairman, before we go on, could 1 ask what the




schedule will be?  We have four panelists who wanted to try to get away




by four o'clock, as I recall.




     When will they be put on the program?




     Dr. Mills:  1 intend to try to get an opportunity to hear them.  I




hope they will stick around.  1 realize most have very tight plane




schedules and it will be necessary that they leave some time before




four o'clock.




     We have Mr. Rogers; we have the representatives of the Westinghouse




Electric Corporation; we have Dr. Tamplin.  And we have Ms. Judith




Johnsrud from the Environmental Coalition on Nuclear Power.




     To the extent that we can get these in and questions and comments




on each particular one, then the other panel members left over from the




Biomedical will be around to answer questions.




     I would suggest if they cannot remain,  that the members of the




panel put together their questions and we will submit these or have them




submitted from the Environmental Protection Agency to the panel members

-------
 750
for response.




     I realize that this is at the heart of the matter, but we will try




to get out at some reasonable time tonight.




     Dr. Radford:  Mr. Chairman, can I suggest that, if it would be




agreeable to Westinghouse people and Dr. Tamplin and the other people,




that after Mr. Rogers presents his presentation that we bring back the




AEG to finish that up?




     I stress this because it seems to me, in my estimation, the




information presented by the witnesses this morning was very crucial




and very critical, and in no way would submission of questions to them




subsequent to this event really get the issues thrashed out as thoroughly




as I think we could do them now.




     Dr. Mills:  I can appreciate that, Dr. Radford.  However, the




representatives from Westinghouse also have a tight schedule.  We had




scheduled some time this morning for this group.




     I believe I have no objection if Dr. Tamplin wishes to come on




after Dr. Wright and Mr. Kramer of Westinghouse, but to allow the earlier




panel to be around for questioning, I do not think I can hold up the




Westinghouse people any longer.




     Dr. Radford:  Let me just say for the record, then, that the fact




that we will probably not have an adequate opportunity to question much




more extensively, particularly Dr. Bair and Dr. Richmond who presented




such important information today, in effect vitiates a considerable




amount of the input of the AEC to these hearings.

-------
                                                                           751
     Dr. Mills:  Well, their testimony  will be put  in the record.




     As I have stated, I recognize the  difficulty with trying  to




answer some of these questions.   However,  they have commitments to




meet as well as the rest of us.




     With that, I would like to  proceed.




     (Note:  The panel was questioned at  the end of the day  and this  is




a part of the record placed directly after the previous AEG  testimony.)




     Mr. Rogers:

-------
752
                        STATEMENT OF LESTER ROGERS




                     DIRECTOR OF REGULATORY STANDARDS




                      U. S. ATOMIC ENERGY COMMISSION




                               PRESENTED AT




                   EPA HEARING ON TRANSURANIUM ELEMENTS




                             DECEMBER 11, 1974







       I am pleased to appear in this hearing to present a statement as a




  member of the Regulatory staff of the Atomic Energy Commission.   We




  understand the purpose of the hearings is to gather information  to




  assist the Environmental Protection Agency in evaluating the potential




  environmental impact of transuranium elements,and to consider whether




  additional EPA guidelines or standards are needed to assure adequate




  protection of the general ambient environment and the public health from




  potential contamination by radionuclides of the transuranium elements.




  We believe that it is appropriate and timely that EPA thoroughly examine




  this question.




       In this brief statement I plan to summarize some of the principal




  considerations given to limiting exposures to the public by the  AEC as




  the Federal regulatory agency responsible for implementing and enforcing




  radiation protection standards in the nuclear industry.   We look forward




  to continued cooperation with EPA as they move forward in examining




  standards for transuranium elements,and will provide any information




  available to us that might be helpful.  Attached as Appendix A to my




  testimony is a bibliography of recently issued environmental statements,




  regulations, and guides prepared by the AEC Regulatory staff and related




  Lo the subject of this hearing.

-------
                                                                         753
                                  - 2 -
                Regulatory Responsibilities of the AEG






     The commercial use of atomic energy was the first technology to be




subject to comprehensive Federal regulatory control from its inception.




Under the Atomic Energy Act of 1954, as amended, no person may construct or




operate a nuclear facility, such as a nuclear power plant or nuclear fuel




reprocessing plant, or possess or use source, byproduct, or special nuclear




materials except as authorized by an AEC permit or license (this includes




all of the transuranium elements of interest in this hearing).   In addition,




the Atomic Energy Act authorized the AEC to promulgate regulations specifying




design, siting, and operating requirements for nuclear facilities to protect




against possible accidental radiation hazards.   The Act requires the AEC




to take measures to protect against accidental releases of radioactive




materials, and to set limits on the amounts of radioactive material that




may be released during normal operations of nuclear facilities  and other




activities involving nuclear materials.




     Under the Atomic Energy Act the AEC has established a comprehensive




Regulatory program involving licensing,  standard setting, inspections,




and enforcement.  Detailed regulations concerning siting, design, and other




aspects of regulation of nuclear facilities and activities have been




published in 10 CFR Chapter 1.  In addition, we have issued some 207 Regu-




latory Guides to provide guidance on methods acceptable to the  Regulatory




staff for implementing specific parts of the Commission's regulations,  to




delineate techniques used by the staff in evaluating specific problems

-------
754
                                 _ o _
   or postulated accidents, and to provide other guidance to applicants and




   licensees.  The Regulatory program that I have just outlined is continued




   by the legislation that has created the new Nuclear Regulatory Commission.




              Implementation of Radiation Protection Standards




        Since its inception, the AEC has as a matter of policy used the




   recommendations of the International Commission on Radiological Protection




   (ICRP) and the National Council on Radiation Protection and Measurements




   (NCRP) as the bases for regulations and safety requirements in its Regu-




   latory program.  In 1959 the Atomic Energy Act was amended to establish the




   Federal Radiation Council (FRC), whose function was to advise the President




   on radiation matters affecting health, including guidance for all Federal




   agencies in the formulation of radiation standards.




        All functions of the Federal Radiation Council were transferred to the




   Administrator of the Environmental Protection Agency (EPA) by Reorganization




   Plan No. 3 of 1970.  Also transferred to EPA were "The functions of the




   Atomic Energy Commission under the Atomic Energy Act of 1954, as amended,




   administered through its Division of Radiation Protection Standards, to the




   extent that such functions of the Commission consist of establishing




   generally applicable environmental standards for the protection of the




   general environment from radioactive material.  As used herein, standards




   mean limits on radiation exposures or levels, or concentrations or quantities




   of radioactive material, in the general environment outside the boundaries




   of locations under the control of persons possessing or using radioactive

-------
                                                                          755




                                  _ 4 -









material."  The AEC retained the responsibility for implementation and




enforcement of EPA standards.




     In its first Memorandum for the President dated May 13, I960, the FRC




recommended adoption of Radiation Protection Guides for Federal use in




normal peacetime operations.  Subsequently, additional radiation protection




guides were recommended and adopted in Reports No. 2 and 8.  AEC regu-




lations have been modified to conform to the FRC guidance to Federal




agencies approved by the President.  EPA has not altered the guidance




issued by the Federal Radiation Council and the Commission's regulations




remain consistent with FRC guidance to Federal agencies.




     The FRC, ICRP and NCRP guidance includes, but is not restricted to,




quantitative radiation protection guides and dose limits.  Since any




exposure may involve some degree of risk, these standards setting groups




also have recommended that radiation doses be kept "as low as practicable"




or, as stated by the ICRP, "as low as reasonably achievable, social and




economic considerations being taken into account."  Therefore,  the AEC




system of implementing FRC guidance is aimed at the following principal




objectives:




     1.   To keep doses from all sources of exposure,  other than natural




background and medical procedures,  well within the FRC numerical radiation




protection guides.

-------
756
                                  - 5 -
     2.   To avoid unnecessary sources of exposure and to ensure that doses




received are justifiable in terms of benefits that would not otherwise have




been received.




     3.   To provide for design and operational control of specific facilities




and uses of materials, both individually and in combination, so that the




resulting doses are sufficiently low that any further reduction in risk




would not be considered to justify the effort required to accomplish it;




that is, the doses are "as low as practicable", or as some prefer to say, as




low as reasonably achievable.




     These objectives are achieved by:




     1.   Establishing and enforcing "regulatory upper limits" on doses




and releases of radioactive material to the environment applicable to




all licensed activities.  These limits are not intended to be exceeded.




They are set forth in the Commission's regulation, 10 CFR Part 20, "Standards




for Protection Against Radiation."




     2.   Establishing and enforcing design objectives and limiting




conditions of operation applicable to specific classes of nuclear facilities




and uses of radioactive material to assure that persons engaged in activ-




ities licensed by the AEG make every reasonable effort to maintain radia-




tion doses and releases of radioactive material in effluents to the environ-




ment as far below the regulatory upper limits as is reasonably achievable.




     This approach to design objectives and limiting conditions of




operation implies a cost-benefit methodology focused on the differential in

-------
                                                                           757
                              - 6 -
costs and benefits that might be involved in requiring the activity to be




carried out at one level of exposure rather than another.  The most defin-




itive guidance, of which we are aware, on the application of this method-




ology as related to radiation protection is set forth in the Recommendations




of the International Commission on Radiological Protection, ICRP Publica-




tion 22, "Implications of Commission Recommendations that Doses Be Kept As




Low As Readily Achievable."  I request that this document be incorporated




into the record of this hearing,   and we do have  a copy to submit.




     We believe that the application of this type of methodology in the




regulatory process, with emphasis on design criteria and operating procedures,




effectively controls releases of radioactive material and assures that the




risk from exposure to radiation resulting from the nuclear industry is kept




at an extremely low level.




     We also believe that this approach to regulation is highly responsive




to the recommendations of the Advisory Committee on the Biological Effects




of Ionizing Radiation, National Academy of Sciences, as reflected in their




November 1972 report on "The Effects on Populations of Exposure to Low




Levels of Ionizing Radiation" (BEIR Report).   Chapter II of the report,




"Needs of the Times," emphasizes the need for quantifying risk and the use




of cost-benefit analyses in decision-making.   The report very wisely points




out that this methodology brings into the decision-making process such




important considerations as whether the public interests are better served




by spending our limited resources on health gains from reducing contamination

-------
758
                                  - 7 -
or by spending for other societal needs.  In discussing the difficulties




and uncertainties in cost-benefit analyses, the report concludes, and I




quote:




     "Despite these uncertainties, there are important advantages in




     attempting cost-benefit analyses.  There is a focus on the biological




     and environmental cost from technological developments and the need




     for specific information becomes apparent.  Thus, for example, we find




     relatively little data available on the health risks of effluents from




     the combustion of fossil fuels.  Furthermore, it is becoming increas-




     ingly important that society not expend enormously large resources to




     reduce very small risks still further, at the expense of greater risks




     that go unattended; such imbalances may pass unnoticed unless a cost-




     benefit analysis is attempted.  If these matters are not explored, the




     decision will still be made and  the complex issues resolved either




     arbitrarily or by default since  the setting and implementation of




     standards represent such a resolution."




     I would like to observe that, based on our experience to date, perhaps




the most urgently needed guidance is  in those areas identified by the BEIR




Committee regarding how we should properly take into account the comparative




benefits to society from the expenditure of resources to reduce risk from




radiation exposures relative to the benefits to be gained by the expendi-




ture of resources on reducing other health risks.  We believe a balanced




approach is a necessity and that this would be a productive area for EPA's




.attention.

-------
                                                                           759



                              - 8 -





Experience in Implementing the "As Low As Reasonably Achievable" Concept


     The effectiveness of the implementation of the "as low as reasonably


achievable" concept in the regulatory process is confirmed by experience in


the nuclear industry.  This experience shows that licensees have generally


kept releases of radioactive material in effluents at such low levels that


resultant exposures to persons living in the immediate vicinity of nuclear


facilities have been less than about 5 percent of the FRC radiation pro-


tection guides for individual members of the public.  The Atomic Energy


Commission has published numerical guidance on design objectives- and


limiting conditions of operation for light-water-cooled nuclear power


reactors in a proposed Appendix I to its Part 50 regulations.  This proposed


regulation has been the subject of extensive public rule making hearings,


including a detailed environmental statement with extensive cost-benefit


analysis.  The matter is now pending before the Commission for decision.


However, as a practical matter all existing operating power reactors,


as well as those under construction, either meet or are being modified to


meet the design objectives and limiting conditions of operation in the


range of the revised Appendix I recommended by the staff in its Concluding

                                                 *
Statement of Position filed on February 20, 1974.   It is expected that


conformance with the guides on design objectives and limiting conditions of


operation will continue to provide reasonable assurance that annual total


body doses to individuals living near the boundary of a site, from radioactive
*Regulatory Staff Concluding Statement of Position, Docket RM-50-2
 February 20, 1974.

-------
760


                              - 9 -


material released in either liquid or gaseous effluent from all reactors at

the site, will generally be less than 5 percent of average doses from

natural background radiation.—   The level of doses to the total body or

any organ is expected to be generally less than 1 percent of Federal radia-

tion protection guides for individual members of the public.  Furthermore,

annual average total body doses to the U.S. population from radioactive

material released in either liquid or gaseous effluents from all light-

water-cooled nuclear power reactors on all sites in the United States for

the foreseeable future will be less than 1 percent of doses from natural

background radiation.

     Parallel to this, we have been working on comprehensive engineering

and environmental studies to form the basis for numerical guidance on as low

as practicable effluent releases for fuel cycle facilities other than

reactors.  Included are nuclear fuel reprocessing plants, plutonium pro-

cessing and fuel fabrication plants, and uranium mills.

     I would now like to turn to specific considerations related to the

transuranium elements.

    Implications of Existing FRC Guidance for Transuranium Elements

     The FRC numerical radiation protection guides pertinent to the trans-

uranium elements (transuranics) have been implemented by the AEC in 10 CFR

Part 20, "Standards for Protection Against Radiation," as upper limits on

occupational exposures and concentrations in effluents released to the

environment.  Consistent with FRC guidance, we have used the "maximum per-

missible body burden" and "maximum permissible concentrations of radionuclides
— Average total body doses due to natural background radiation in the
  United States are in the range of 100-125 millirems per year.

-------
                                                                           761





                              -10-









in air and water" derived from the radiation protection guides recommended




by the ICRP and NCRP.  These values are used as regulatory upper limits of




individual exposure for normal operations and as indices of relative risk.




Research and studies on the relation between intake of the transuranics and




biological effect should continue, and we will keep the standards under




review to assure that they reflect the best available knowledge.




     However, it is not appropriate to arbitrarily project estimates of




possible releases of transuranics to the environment, or possible health




effects to the public, from commercial nuclear operations on the assumption




that significant numbers of people are going to be permitted to be exposed




to these upper limits of radiation exposure.  Regulatory implementation of




the "as low as reasonably achievable" concept through close attention to




plant design requirements and operational controls will prevent this from




happening.  Based on information now being submitted in license applications,




on operational data obtained from existing plants, and on evidence developed




in studies now underway on available technology and cost-benefit considera-




tions for fuel fabrication and reprocessing plants, it appears that normal




operational releases of the transuranics to the environment will keep radia-




tion exposures to individual members of the public on the order of 1000




times lower than would exposures at Part 20 concentration limits.  In this




regard we agree with EPA's findings in their February 1974 report, "Environ-




mental Radiation Dose Commitment:  An Application to the Nuclear Power




Industry," that "current control practices for actinide releases at a single

-------
 762
operation, such as nuclear fuel chemical reprocessing, are expected to


                                    -8      —9
restrict releases to the order of 10   to 10   of the total amount processed,



and future experience ray justify the assumption of even smaller release



fractions."  Even so, EPA conservatively assumed that 10   of the total



amount handled in any given year would be released for purposes of projecting



cumulative potential health effects tothe Year 2020.  The EPA estimates as



reflected in the report show that the cumulative future potential health



effects (i.e., number of lung cancers) from all assumed transuranic releases



through the Year 2020 froa the entire nuclear fuel cycle would not exceed

  (That's assuming a linear dose-effect relationship.)  £<3(!dfd  cr)\  tettiti

21. A The current normal incidence of lung cancer in the U.S. population



when extrapolated over a 50 year period would indicate several million



cases fron all causes.



                        Protection Against Accidents



    Protection against releases of radioactive materials that could result



from accidents is a. principal objective of the AEC regulatory program.



Applicants and licensees are obligated to assure the AEC that safety



considerations are a part of every step in the design, construction, and



operation of each nuclear facility or plant.



    The AEC has the responsibility to see that Safety requirements are met



by the plant operator.  Licenses are issued only for those activities which,



on careful and detailed review, can meet prescribed safety standards and



criteria within the bounds of conservative engineering practices.  AEC



regulations require that nuclear facilities and plants be soundly and conservatively

-------
                                                                           763
                              - 12 -
designed with ample safety margins and redundancy of components and systems




to compensate for the fact that no body of knowledge can ever be complete




enough to reduce uncertainties and risks to zero.




     Many requirements are imposed to achieve these safety objectives.




Prominent among them is the defense-in-depth concept employed in the




design of all nuclear facilities.  The implementation of this concept




includes the requirement of a comprehensive quality assurance program for




the design, construction, and operation of the facility; the provision of




multiple safety systems and physical barriers to prevent the uncontrolled




release of radioactive material; and the requirements for extensive testing




and inspection of plant equipment and systems, both before and during




operation.




     Although the operation of nuclear facilities is not completely risk-




free, it is the safety objective of the AEC, through the licensing process,




to require applicants and licensees to take those actions necessary to




assure that the risks from design basis accidents are reduced to acceptable




levels and to assure that the likelihood of accidents more severe than




design basis accidents is extremely small.




     In addition the licensee is required to develop a comprehensive emergency




plan to take appropriate protective action to minimize the risk to public




health and safety in the highly unlikely event that there is a significant




release of radioactive material offsite.  In this regard, we believe that




EPA should give consideration to developing protective action guides for

-------
   764
                                 - 13 -
the transuranic elements similar to those issued by the FRC in Reports




Numbers 5 and 7 for iodine-131, cesium-137, strontium-90, and strontium-89.




 In addition to requiring licensee emergency plans, the AEG, in exercising




its "Lead Operating Agency" role among Federal agencies having assigned




responsibilities for nuclear incident emergency planning, is actively




pursuing a program to assist State and local governments in developing and




improving their Radiological Emergency Response Plans.




                                Summary




     In summary, we are pleased that EPA is examining whether there is a




need for additional guidelines on standards to further assure adequate




protection of the ambient environment and public health and safety from




potential releases of transuranium elements to the environment.   We are




confident that AEC regulatory requirements on the design and operation of




nuclear fuel cycle facilities and the state of development of waste treat-




ment technology will assure that the risk to public health and safety from




the release of transuranium elements is kept at an extremely low level.




Research to better define potential pathways of exposure and the relationship




between intake of transuranics  and  biological  risk should  continue to  be




supported.  Existing standards should be critically reviewed as  additional




information is developed on the dose-risk relationship.  Guidance is needed




on how to account properly, in cost-benefit analyses, for the comparative




benefits to society from the expenditures of resources to reduce risk from




radiation exposures relative to the benefits to be gained by the expenditure

-------
                                                                       765





                              - 14 -








of resources on reducing other health risks.   Further guidance is also




needed in the form of protective action guides for the transuranium elements




similar to the guides for strontium-89, strontium-90, cesium-137, and




iodine-131, as set forth in Reports Numbers 5 and 7 of the FRC.   This




concludes my statement and I will be pleased to respond to any questions




you may have.  In addition I have attached to my testimony an Appendix B




which provides more of the detailed information requested in the  Notice of




Hearing. (Added oral testimony)  Dr. Mills, I think you are aware that




there are many documents in the public domain that are related to this




subject, all of which are available for your use.

-------
766
                                 APPENDIX A




                            Bibliography of Recent




                     AEC - Regulatory  Issuances Pertaining




                    to Plutonium and Transuranium Elements






    1.    Generic Environmental  Statement Mixed Oxide Fuel. WASH-1327, August




         1974.






    2.    Staff  Testimony and Record of Barnwell Operating License Hearing,




         Docket 50-332,  1974.






    3.    Proposed amendment to  10 CFR  Part 50, General Design Criteria for Fuel




         Reprocessing Plants, 39 FR 26293, August 18, 1974.






    4.    Proposed Amendment to  10 CFR  Part 50, Technical Specifications for




         Fuel Reprocessing Plants, 39  FR 24626, July 5, 1974.






    5.    Proposed Amendments to 10 CFR Parts 40 and 70, Effluent Monitoring and




         Reporting (for fuel cycle facilities), 39 FR 38392, October 31, 1974.






    6.    Proposed Amendment to  10 CFR  Part 20, Transuranic Waste Disposal,




         39 FR 32921, September 12, 1974.

-------
                                                                          767

                                  — 2 —


                           Bibliography Cont'd

7.   Division 3 Regulatory Guides as follows:

3.1   Use of Borosilicate-Glass Raschig Rings as a Neutron Absorber in
      Solutions of Fissile Material

3.2   Efficiency Testing of Air-Cleaning Systems Containing Devices for
      Removal of Particles

3.3   Quality Assurance Program Requirements for Fuel Reprocessing Plants
      and for Plutonium Processing and Fuel Fabrication Plants (Rev. 1)

3.4   Nuclear Criticality Safety in Operations with Fissionable Materials
      Outside Reactors

3.6   Content of Technical Specifications for Fuel Reprocessing Plants

3.7   Monitoring of Combustible Gases and Vapors in Plutonium Processing
      and Fuel Fabrication Plants

3.10  Liquid Waste Treatment System Design Guide for Plutonium Processing
      and Fuel Fabrication Plants

3.12  General Design Guide for Ventilation Systems of Plutonium Processing
      and Fuel Fabrication Plants

3.14  Seismic Design Classification for Plutonium Processing and Fuel
      Fabrication Plants

3.16  General Fire Protection Guide for Plutonium Processing and Fuel
      Fabrication Plants

3.17  Earthquake Instrumentation for Fuel Reprocessing Plants

3.18  Confinement Barriers and Systems for Fuel Reprocessing Plants

3.19  Reporting of Operating Information for Fuel Reprocessing Plants

3.20  Process Offgas Systems for Fuel Reprocessing Plants

3.21  Quality Assurance Requirements for Protective Coatings Applied to
      Fuel Reprocessing and to Plutonium Processing and Fuel Fabrication
      Plants

3.22  Periodic Testing of Fuel Reprocessing Plant Protection System
      Actuation Functions

-------
768
                                 APPENDIX B



                 SUPPORTING INFORMATION TO THE STATEMENT OF



                 LESTER ROGERS CONCERNING AEC REGULATION OF



                    TRANSURANIUM ELEMENTS IN THE NUCLEAR



                                 FUEL CYCLE







   The purpose of this Appendix is to describe where plutonium and other



   transuranium elements appear in the light-water-reactor fuel cycle, with



   and without plutonium recycle; to characterize the plants which process



   significant quantities of transuranics; to illustrate how the AEC Regulatory



   process is being applied to these plants; and to estimate the potential



   source terms.



   1.   The Light-Water-Reactor Fuel Cycle



             The uranium fuel cycle is illustrated in Figure 1.  It begins



        with the mining and milling of uranium.  The uranium is then converted



        to UF,, enriched in U-235, converted to U00, and fabricated into
             o                                    /


        reactor fuel.  The uranium oxide fuel is irradiated in reactors and,



        after several months, is reprocessed.  In the reactors, some uranium



        is converted into plutonium and other transuranics and fission prod-



        ucts.  The reprocessing plants separate plutonium, other trans-



        uranics, and uranium from the spent fuel.  The transuranics, other



        than plutonium, are normally disposed of as high-level radioactive



        waste along with the fission products.   The recovered uranium is



        normally returned to the enrichment plants for recycling, and the



        plutonium is placed in storage.

-------
                                   -  2 -
                                           769
   FUEL
   ASSEMBLIES
   13800 MTU
                 SPENT FUEL
                 8800 MTM
          UO2 FUEL
          FABRICATION
        REPROCESSING
    ENRICHED
    UF6
    13800 MTU
                                     PLUTONIUM
                                     53000 Kg Puf
       V
 r
                                             309200 Kg Puf
                                     PLUTONIUM
                                     STORAGE/INVENTORY
   ENRICHMENT
   77900 MT SWU
   (48000 US, 30000 FOREIGN)
  00 MTU
°°uu
NATURAL UFg
80700 MTU
              U
                                                             2800 CANISTERS
          CONVERSION
          TOUF6
                   LEVEL WASTE
                                       WASTE STORAGE
                            URANIUM MINES
                            & MILLS
                            ORE 52.2 x106MT
              'Cumulative To 1990
     Figure I •   Annual Industry-wide Fuel Cycle Requirements for Light Water Reactors
               for about 1990 Without Plutonium Recycle (AEC-OPA 1974 Projection)

-------
770





                                - 3 -









        In the event that the use of recycle plutonium is approved, the




   LWR fuel cycle with the use of recycled plutonium is illustrated in




   Figure 2.  Plutonium and other transuranics may be present in five




   phases of the LWR fuel cycle:  (1) the reactor, (2) the fuel repro-




   cessing plant, (3) plutonium storage, (4) high-level radioactive waste




   storage, and (5) the mixed oxide fuel fabrication plant.




        In the reactor and in the storage facilities, the plutonium and




   other transuranics are contained by passive devices and not subjected




   to mechanical processing.  It is expected that there will be a




   neglible discharge of plutonium and other transuranics to the environ-




   ment in these phases of the fuel cycle.




        The two phases of the fuel cycle which include processing of




   large quantities of plutonium and other transuranics are the fuel




   reprocessing plants (FRPs) and the mixed oxide fuel fabrication plants




   (MOFFPs).  These  plants    are the most likely to discharge measurable




   quantities of plutonium and other transuranium elements to the environ-




   ment and are described in more detail below.




   a.   Fuel Reprocessing Plants (FRPs)




        The functions of a fuel reprocessing plant are to recover the




   residual fuel materials, uranium and plutonium, in a form suitable




   for re-use and to isolate radioactive wastes for storage and ultimate




   disposal.  Spent fuel is transported from the reactor to the




   reprocessing plant in heavily shielded casks after a normal period

-------
                       -  A -
                                                                            771
FUEL
ASSEMBLIES
13800 MTM
430,000 MWe
                          LWR POWER REACTORS
SPENT FUEL
8800 MTM
prTT3




NA
U02
i
7 (U, Pu)02 RODS 1500 MTM
^^^ », . ^\
^^1 \ \

UQ7 MIXED OXIDE
n
PLUTONIUM
62000 Kg Puf
II
1450 MTU FUEL FABRICATION II
tj l_
Pu02
44300 Kg Puf
S
\
_J 	
V
r— - £^T~~"-1
41700 Kg Puf*
•— g |
ED UF6 PLUTONIUM








MTU STORAGE/INVENTORY
J
/f^~^

— V""*^- — ^
— 	 "I <^


rl ^ RECOVERED
ENRICHMENT URANIUM
69400 MT SWU 8600 MTU
(42800 US, 26600 FOREIGN) 280o CAf
1
^^H
	 ' I ' 1
) NATURAL UF6
71800 MTU ._.
i D
1
^f
i fi ii r1
4> 1_>
A
i -^^\
^
J/flf ,
//\ V <"














ISTERS



CONVERSION ^ 1 £ORAGE ~ HIGH-LEVEL WASTE
                            URANIUM MINES
                            & MILLS
                            ORE 47.4 x 106 MT
                •"Material Indicated In Storage May Be
                 All or Largely Present Elsewhere in the
                 Fuel Cycle as Material in Process
        Figure 2.   Annual Industry-wide Fuel Cycle Requirements for Light Water Reactors
                  for About 1990 With Plutonium Recycle (AEC-OPA 1974 Projection)

-------
772




                                    - 5  -










      of storage at the reactor of about 150 - 160 days.  Commercial




      fuel reprocessing plants will  use processes that are variations of the




      process that has been used in  USAEC facilities for many years.  After




      removal of the process tube and end-hardware of the fuel assembly,




      the next step in reprocessing  irradiated nuclear fuels is to shear the




      long fuel assemblies into approximately 1-in. pieces to expose the




      fuel material for subsequent dissolution in nitric acid.




           In the dissolver, the fuel material is dissolved in nitric acid,




      leaving the cladding hulls as  a residue.  The dissolver solution




      containing uranium, plutonium, other actinides, and fission products




      is assayed and transferred to  a feed tank for the separation process.




      The residual hulls are examined to assure that fuel dissolution is




      complete and then are transferred to a solid waste storage area.




           Uranium and plutonium are recovered and purified by a solvent




      extraction process in which uranium and plutonium preferentially




      transfer into the organic solvent, and the other transuranics and




      fission products remain in the acidic waste.  The co-extracted uranium




      and plutonium then are separated from one another in a second solvent




      extraction operation.  After similar purification steps, the purified




      uranium and plutonium products are packaged for future use.  The




      highly radioactive acidic wastes from the solvent extraction system




      are concentrated by evaporation and stored in stainless steel tanks.




      Present AEC regulations (Appendix F, 10 CFR Part 50) require that

-------
                                                                   773
                             - 6 -
these liquid wastes be converted to a dry solid and transferred to a

Federal repository no later than 10 years following separation of

fission products from the irradiated fuel.

     Gaseous waste streams from fuel reprocessing plants entrain

small quantities of particulate plutonium and other transuranium

elements.  These waste streams are treated by gaseous radwaste

systems prior to release to the atmosphere through tall stacks

(typically 100 meters).  The particulate removal efficiency of these

systems, on the basis of current technology, is estimated to yield a

system decontamination factor of 1 x 10  for 2 HEPAs in series.

     A commercial scale FRP is expected to process about 1,500 metric

tons per year of fuel irradiated to 33,000 MWD/metric ton at 30 kW/kg.

After 160 days of radioactive decay, the calculated amounts of

plutonium and other significant transuranics entering the facility

per year would be as follows:
Nuclide

Pu-238
Pu-239
Pu-240
Pu-241 (beta)
Pu-242
Am-241
Am-243
Cm-242
Cm-244
Expected FRP Throughput
     (Ci/yr)	
          Alpha curie total:
          Beta curie total:
          Total:
     4.2 x 10,
     4.9 x 10;
     7.1 x 10
     1.5 x 10
     2.0 x 10;
     2.4 x 10-
     2.7 x 10.
     2.5 x 10'
     3.6 x 10

     3.4 x 10'
     1.5 x 10l
     1.8 x 10*
8

-------
774




                                - 7 -








   b.   Plutonium Fuel Fabrication Plants




        The function of a plutonium fuel fabrication plant is to manu-




   facture plutonium bearing fuel assemblies for nuclear reactors from




   plutonium oxide and uranium oxide feed materials.  The fuel is often




   referred to as "mixed oxide" fuel, and the plant  a mixed oxide fuel




   fabrication plant (MOFFP).   The transuranium nuclide Am-241 entering




   a  fabrication plant is that from the decay of Pu-241 following an




   aging time of about two years after plutonium separation in a fuel




   reprocessing plant.




        Fuel pellets are fabricated from uranium and plutonium oxide




   powders.  The pellets are inserted into zirconium alloy tubes and




   shipped to an enriched uranium fuel fabrication plant for placement in




   assemblies prior to shipment to LWR power plants.




        All processing steps which involve radioactive materials are




   performed in process vessels, process cells,  or alpha enclosures (such




   as glove boxes).  The gaseous waste streams from  the processing steps




   each receive a separate pretreatment.  The treated process gases and




   alpha enclosure ventilation air are combined with ventilation air from




   personnel operating areas for final treatment with high efficiency




   filters prior to release to the atmosphere through a short stack




   (typically A~6 meters).  The particulate removal efficiency of this




   treatment system, on the basis of current technology, is estimated to




   yield a system decontamination factor of 3 xlO  for 3 HEPA filter



   banks in series.

-------
                                                                           775
                                   - 8 -
          Liquid effluent treatment systems are used to recover uranium,

     plutonium, and nonradioactive materials, such as nitric acid and

     water, and to recycle these materials to the processing operations.

     No radioactive process liquids are expected to be released from the

     plant.  Residues from the treatment of liquid radwastes are already

     being solidified and shipped offsite for disposal.

          Commercial scale plants expected to be built in the near future

     will typically have a throughput of one metric ton per day of mixed

     oxide fuel.  The amounts of plutonium and transuranium nuclides

     entering a MOFFP per year are calculated to be as follows:
     Nuclide

     Pu-238
     Pu-239
     Pu-240
     Pu-241
     Pu-242
     Am-241
               Alpha curie total:
               Beta curie total:

                         Total:
Expected MOFFP Throughput
	(Curies/Year)	
6.6 x 10,
3.5 x 10;
7.7 x 10
1.7 x 10
4.9 x 10;
5.7 x 10"

8.3 x 10*
1.7 x 10
8
8
1.8 x 10
        8
2.   The AEC Regulatory Process

     a.    General Design Criteria

          The Atomic Energy Commission establishes regulations which

     set general requirements for the primary safety related features

     of nuclear facilities.  These regulations are called General

-------
776




                                - 9 -









   Design Criteria.  License applicants are required to show, by




   engineering analyses and tests, that individual facilities meet




   the general design criteria.  The general design criteria spec-




   ifically treat the design, inspection, and testing of components



   and systems which confine radionuclides including transuranium elements,




        In 1972, the Atomic Energy Commission began to develop




   amendments to its regulations to provide general design criteria




   for fuel reprocessing plants and for plutonium processing and




   fuel fabrication plants.  Proposed General Design Criteria for




   Fuel Reprocessing plants were published in August 1974.  General



   Design Criteria for Plutonium Processing and  Fuel Fabrication Plants




   are being developed.  These criteria will assist license applicants in




   developing a description and safety assessment of the design bases for




   the principal structures, systems, and components of the plant, in-



   cluding provisions for protection against natural phenomena, and a




   description of the quality assurance program.  Specific criteria which




   affect normal operational releases include those which refer to



   testing and maintenance of equipment, design of confinement barriers,




   ventilation and off-gas systems,  protection systems, instrumentation




   and control systems, effluent systems, and effluent monitoring.




   b.   Siting Criteria




        Revisions of AEC regulations giving siting criteria for fuel




   cycle facilities are being developed.  The purpose of siting criteria




   is to control the risk to the general population by restricting the




   location of the sites.

-------
                                                                           777
                                  - 10 -


          In developing siting criteria, consideration is given to the
     potential releases of plutonium and other transuranics and to the
     pathways by which these nuclides can reach man.   The criteria will
     be used in a screening process to identify suitable candidate sites
     for these facilities.  The decision to build a plant on a specific
     site will be based on a detailed evaluation of the proposed site-
     plant combination, and a cost-benefit analysis comparing that
     combination with alternative site-plant combinations.
          In 1972, the AEC began studies to provide the technical bases
     for developing generic siting criteria for fuel  cycle  facilities
     handling large quantities of plutonium and other transuranics.
     This work is still in progress.
c.    The Policy of "As Low As Practicable"
          In 1973 the Commission initiated comprehensive engineering
     and environmental studies to form the basis for  numerical
     guidance for as-low-as-practicable effluent releases for fuel
     cycle facilities other than reactors.   These studies included
     nuclear fuel reprocessing plants and plutonium processing and fuel
     fabrication plants.
          The studies began with the  development of conceptual designs
     of model plants.   Calculations were then made of the quantity of
     radioactive material  that would  be released to the envionment
     (in liquid and gaseous effluents)  and the resulting dose commitments

-------
778





                               - ii -








   to individuals and the population.   The model plants included




   sufficient radwaste treatment equipment to limit radioactive




   materials in liquid and gaseous effluents at or below the levels in




   10 CFR Part 20.




        The next phase of the studies  consisted of adding to the




   conceptual model plant successive stages of radwaste treatment




   equipment to limit radioactive materials in effluents to succes-




   sively lower levels.   The cost was  estimated for each increment of




   added radwaste treatment.  The quantity of radioactive material '




   released to the environment and the resultant dose commitment to




   individuals and the population were also calculated for each




   increment.




        The third phase  of the studies was to determine the cost




   effectiveness of each increment of  radwaste equipment that was




   added to the model plant.  This was done by dividing the cost of




   each increment of treatment by the  reduction in dose commitment to




   the population that the equipment achieved.   The cost effectiveness




   was thus determined in units of dollars per person-rem of reduction




   in population dose commitment.




        The final phase  of the studies is  to select for each fuel




   cycle facility numerical guidelines for as-low-as-practicable




   releases.   This includes limits on  the  quantities of radioactive




   material released to  the environment and the maximum annual  dose




   commitment  that an individual can receive at the site boundary.

-------
                                                                         779
                                 - 12 -
     The numerical values will be chosen so that doses are at a very low

     level where further reduction in risk would not be justified by the

     effort required to accomplish it; i.e. the doses are as low as

     reasonably achievable.

          The proposed rule changes and draft environmental statements

     relating to ALAP for fuel reprocessing plants and mixed oxide fuel

     fabrication plants are being developed.

d.   The Use of Technical Specifications, Monitoring, and Inspections

          In licensing individual nuclear plants such, a? PKPa and MOFFPs,

     certain factors quantified in the analysis of. the plant may be

     specified in the technical specif±cations or license conditions which

     become part of license to operate the plant.  These requirements

     provide assurance that the plant is operated so that normal releases do

     not exceed those evaluated in the licensing process.

          Further assurance that actual releases do not exceed those

     specified in the technical specifications is provided by monitoring

     gaseous and liquid effluents from the facilities.   For fuel reprocessing

     and plutonium fuel fabrication plants, emphasis is placed on sampling

     of gaseous effluents from the exhaust stack, since evidence' indicates

     that inhalation (both during plume passage and from resuspension of

     deposited particles) is the critical pathway for dose commitments

     from plutonium and other transuranics.  As a result, the major

     monitoring effort in such  plants    is directed toward measurement

-------
780




                                  - 13 -








      of the small quantities of plutonium and other transuranium elements




      which penetrate the final confinement barrier (the final filter




      bank) and are released to the  atmosphere.   In addition,  environ-




      mental monitoring is performed for  plutonium and  other  transuranics,




      and is generally done to (1) establish baseline data (e.g.,  fallout




      plutonium from weapons tests or  burnup of  systems nuclear auxiliary




      power (SNAP) generators returning to the earth from space applica-




      tions) , (2)  provide confirmation that plutonium is not  accumulating




      in the environment, or (3)  provide  environmental  contamination data




      following an accidental release  of  plutonium.   Effluent  monitoring




      guides are now being developed for  FRPs and MOFFPs and  are expected




      to be issued for comment in 1975.




           In addition to the monitoring  efforts required of  licensees,




      periodic and extensive on-site inspections of  each plant are carried




      out by the Regulatory staff.   The purpose  is to provide  further



      assurance that the requirements  of  Regulatory  standards  and  the




      technical specifications at each plant are being  complied with.   In




      the event of violations by licensees, Regulatory  response may range




      from written admonitions to correct unsatisfactory conditions,




      to monetary fines or plant enclosure in the event of serious




      violations.




 e.    The AEC Policy for Radioactive Waste




           The Atomic Energy Commission is considering  the amendment of




      its regulations to prohibit the  disposal by burial in soil of

-------
                                                                         781




                                 - 14 -








     plutonium and other transuranics (39 FR 32921, 9/12/74).  Wastes




     containing plutonium and other transuranium elements generally




     consist of (a) expendable material such as absorbent tissues,




     clothing, gloves, and equipment; (b) solids such as filters from




     effluent treatment systems; (c) liquid and solidified liquid wastes;




     (d) fuel hulls which remain after fuel reprocessing operations; and




     (e) wastes which contain or are contaminated with transuranics




     resulting from reprocessing operations, but which are not classified




     as high-level waste.




          Presently, the AEC regulations permit the disposal of specified




     small quantities of transuranics by burial without the specific




     approval of the Commission.  The proposed amendment would require




     waste containing transuranium elements to be solidified (if necessary),




     packaged, and transferred to the AEC for storage as soon as practicable




     but within five years after its generation.




3.   Source Terms of Plutonium and Other Transuranium Elements




          With the implementation of the Regulatory process which has




     been outlined above to include general design criteria, siting




     criteria, ALAP numerical guidelines, monitoring and inspections,




     and waste disposal policy, it is possible to make projections of




     the releases of plutonium and other transuranics from the commercial




     scale FRPs and MOFFPs of the near future.  Such estimates are




     largely theoretical in nature, based on limited experience with

-------
782
                                  - 15 -








    much smaller facilities.  Until larger facilities have been licensed




    and operating it will be difficult  to precisely define such releases.




         Based on current projections,  there will be several commercial




    scale FRPs in operation by 1990, reprocessing on the order of 8,800




    metric tons of LWR fuel per year.   For each typical, commercial




    scale FRP, the Regulatory staff estimates that less than 0.1 curie




    (alpha) of plutonium and other transuranics will be released in




    gaseous effluents per plant-year.   In addition, less than one curie




    (beta) of plutonium-241 would be released in gaseous effluents per




    plant-year.  No liquid releases are anticipated.  The maximum




    annual organ dose (bone) to an individual living near the site




    boundary has been estimated to be less than 1.0 mrem from plutonium




    and other transuranics.  The annual dose to the whole body is much




    lower than the maximum organ dose to the bone.  These estimates




    include dose contributions from inhalation and ingestion.




         The decision regarding the use of recycle plutonium for LWR




    fuel has not yet been made.  Current projections indicate that if




    plutonium recycle is initiated, there will be several commercial




    scale MOFFPs in operation by 1990, fabricating about 1,500 metric




    tons of mixed oxide fuel per year.  The Regulatory staff estimates




    that less than 0.0001 curie (alpha) of plutonium and other trans-




    uranium elements would be released in gaseous effluents per plant-




    year for a MOFFP of commercial scale.  About 0.001 curie of

-------
                                                                    783
                            - 16 -
plutonium-241 (beta) would be released in gaseous effluents per




plant-year.  The maximum annual organ dose (bone) to an individual




living near the site boundary has been estimated to be less than one




millirem.  The annual whole body dose would be much lower than the




maximum annual organ dose.  These estimates include dose contributions



from  inhalations and  ingestion.




     Thus, for the uranium fuel cycle, with or without plutonium




recycle, the maximum dose to any organ or to the whole body of an




individual from plutonium and other transuranium elements would




amount to no more than one percent of the natural background




radiation dose.

-------
784
                      RADIATION PROTI (  I ION
                         ICRP PUBLICATION ?..
                    Implications of Commission

             Recommendations that Doses be kept as

                    Low as Readily Achievable

                       A Report by Committee 4 of the
                        International Commission on
                          Radiological Protection

                   ADOPTED BY THK COMMISSION IN \PKII. 197.1
                           PUBLISHF-D I OR

                The Intcrn;ilion
-------
                                                                           785
     Dr. Mills:  Thank you very much, Mr. Rogers.




     Dr. Morgan, do you have any questions?




     Dr. Morgan:  I have just one question, Mr. Rogers.




     You indicated that for the foreseeable future, it was not




anticipated that the doses to the population from the operation of the




light-water-cooled reactors would exceed more than about one percent




of the natural background radiation.




     Perhaps I could break this into two questions.




     Does this include the occupational dose and the accident dose?




     The other question, then, would be what about the LMFBR and the




fuel fabrication and the rest of the fuel cycle?




     I think it would be much more meaningful if you could give us the




percent in reference to the whole fuel cycle.




     Mr. Rogers:  This does not include occupational exposure inside




the facility.  It relates only to the population exposure received off-




site.




     Dr. Morgan:  It does not include accidents?




     Mr. Rogers:  It does not include accidents.




     Dr. Morgan:  What about LMFBR?




     Mr. Rogers:  It does not include the LMFBR.  The information that




is presently available on technology would lead us to believe that the




levels of release from any LMFBR would be at least as low as those from




the light- water reactor and should not be significantly different.




     With respect to the remainder of the fuel cycle as related to

-------
786
  population dose, we would expect again that the average population




  dose would not exceed the order of one percent of the natural




  background.




       Mr. Morgan:  The two percent total would be —




       Mr. Rogers:  In that range somewhere.   As you know,  these are




  estimates and projections, so I would not want to refine those numbers




  any further.




       One or two percent, somewhere around that figure.




       Dr. Mills:  Dr. Garner?




       Dr. Garner:  As a follow up to what Dr. Morgan was saying, you




  say you think approximately the same amount of transuranics will be




  released from the recovery operation, or do you mean to say that per-




  centage of the total inventory will be released?




       Mr. Rogers:  With the LMFBR, I was really referring to the




  relative dose offsite from the LMFBR.




       Dr. Garner:  That does not mean, does  it, that since you are going




  to have a total greater throughput of transuranics, that you must be




  cutting down the releases to the environment, the percentage of the




  total handled that is released to the environment will be cut down?




       Mr. Rogers:  I think that is correct.




       Dr. Garner:  So you are going to improve the hold-up.   I do not




  know what percentage you normally take of material in the processing




  plant, what percentage you take as released, escaping to the environ-




  ment.  Could you give me a figure on that,  a working figure?

-------
                                                                         787
     Mr. Rogers:  We are doing detailed studies on that at the moment.




I do not think I have specific figures as to percentage other than the




decontamination factors that we get, on the order of 108 or 109 with




respect to fuel reprocessing and 109 or lO1^ for mixed oxide fuel




fabrication plants.




     Dr. Garner:  I think that is all I have to say.




     Dr. Mills:  Dr. Radford?




     Dr. Radford:  Mr. Rogers, you referred to these estimates of the




dose commitment that EPA has made in a publication.  Are you familiar




with the model on which they based these estimates, the exposure




conditions that they assume, and so on?




     Mr. Rogers:  I am generally familiar with it.  It is in the




published report.




     Dr. Radford:  On page 6 of your appendix B, you give the through-




put for a 1500 metric ton per year fuel reprocessing plant?




     Mr. Rogers:  That is correct.




     Dr. Radford:  In curie amounts, curium 242 and 244 constitute far




and away the most important throughput of alpha activity.  Now, I am




only talking about alpha activity.




     Mr. Rogers:  I am not sure I would characterize it as the most




important.  It is the largest number.




     Dr. Radford:  Well, OK.  It is far and away the largest fraction.




If my quick arithmetic is right, something on the order of 95 percent




of all the alpha activity through fuel reprocessing plants is curium




isotopes.

-------
788
     Now, I am not quite sure, this is entering a facility, but the




plutonium will be recycled out, so the plutonium becomes an even smaller




fraction once it is recycled out.  Is that correct,  if you assume a




recycle?




     Mr. Rogers:  A smaller fraction of —




     Dr. Radford:  You have a certain amount of activity of plutonium




isotopes coming in, right?




     Mr. Rogers:  Yes.




     Dr. Radford:  Now the waste stream will not contain much of that




plutonium.  You hope it will only be, as we said yesterday, something




like a half percent.




     Therefore, the amount released in the waste and potentially capable




of reaching the environment, plutonium isotopes on a curie basis now,




would be very small indeed, proportionate to the americium even?




     Mr. Rogers:  But the curium that is retained in the process, of




course, goes into solidified waste.  It is not released to the environ-




ment.




     Dr. Radford:  The point I am making is, it is not recovered.  It




is simply put aside or maybe lost in the process.




     Now, the question I would ask pertinent to this dose commitment,




what assumptions were made about releases from the waste system, from




the throughput system, and so on as far as the activities of these alpha




emitters are concerned?




     Mr. Rogers:  Again, I believe the same assumptions that decontami-

-------
                                                                        789
nation factors of 108 and 10  were used.




     Dr. Radford:  So that would apply to curium isotopes also?




     Mr. Rogers:  That is right.




     Dr. Radford:  We could then use these across the board as the




estimates of what would escape?




     Mr. Rogers:  Right.




     Dr. Radford:  OK.  Now, in view of the fact that the curium




isotopes are in far greater alpha activity concentration, do you know




if the dose estimates were based on curium uptake?




     Mr. Rogers:  I believe the dose estimates did include curium.




     Dr. Radford:  We would have to include mostly curium, since on an




activity basis, it is mostly curium.  I think I heard today and we have




the people in the audience who can correct this, that some recent




experiments have indicated that curium was unusually hazardous, as




least as far as per rad dose base was concerned; the assumption being




that it was uniformly distributed rather than perhaps aggregating in




a lymph node, such as some of the plutonium.




     Therefore, the question would be has an adequate evaluation of




this new information changed the picture as far ar perhaps the curium




toxicity might be?




     Mr. Rogers:  I do not think I would want to comment on that with




respect to the curium toxicity, Dr. Radford.   But, I do not think it




changes the picture of our basic approach to isolate this material




through good design objectives and conditions of operation, to simply

-------
790
avoid letting any significant quantity enter the environment, thereby




avoiding the risk fostered by unwarrented exposure.




     Dr. Radford:  That might influence whether the number of lung




cancers was 21, 21,000, 20 million or something.




     Mr. Rogers:  I really would not argue about the risk; if the




estimate is 21, 30 or 40, from that standpoint.  I think the basic




message that I would like to get across is that from a regulatory




standpoint, our emphasis is on design objectives and limiting condi-




tions of operation, using technology on a reasonable cost-benefit




basis to keep the material out of the environment and to isolate.




     Our best estimates, I think, both with respect to EPA and the




AEC and all the estimates that have been made in the environmental




statement on the breeder and the details of the envioronmental state-




ment on plutonium recycling, shows that it is technically feasible to




keep these levels down to extremely low levels as far as exposure is




concerned.




     So I think that is the basic message.  Surely, we should continue




to carefully study our dose risk relationship, so that we will be act-




ing on the best available information.  But from the standpoint of the




end result of reducing exposures, I do not think that we are waiting




on that kind of information to go ahead and apply technology to keep




these releases at extremely low levels.




     Dr. Radford:  We heard from Mr. Forscher of ANSI earlier.  I




believe you were here.  He indicated that the ANSI standard, in effect,




led to a 50-fold reduction in the calculated emission limit.

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                                                                         791
     These were fuel fabrication facilities only.  Do you think that




50-fold reduction is a relatively easy thing to achieve?




     Mr. Rogers:  I would like to make two comments.  First, I would




not want any misunderstanding with respect to the status of the draft




standard that Dr. Forscher talked about this morning.  That is still in




committee work.




     We do not subscribe to the specific numbers that are in the




standard.  We really think the question of effluent limitation,




numerical effluent limitation, is really a prerogative of the regula-




tory agencies to establish.




     Having said that, I would not want to be associated with that




standard as being any type of official document.  But having said




that, I think I have just indicated in my testimony, that as a practi-




cal matter we feel by applying the "as low as reasonably achievable"




concept on a cost-benefit basis, that in normal operations and most of




the time, we can achieve levels of exposure from the transuranics




which are perhaps less than one percent of the existing basic radiation




protection standards.  So that would indicate a reduction in terms of




exposure of a factor of 100.  We are doing that as you well know in




the light-water-cooled reactors.




     We feel that the exposures can be kept generally down to this




range of one percent of existing radiation protection basic standards




from these individual sources.




     Dr. Radford:  A final question:  There has been some concern




expressed,  including by myself, that if you set, let us say, environ-

-------
  792
mental limits either by emission limitations or by ambient measurements,




however they are specified, below the detection limit,  below the




practical detection limit, that in effect you have really an unregu-




lated situation.




     Mr. Rogers:  Well, I understand what you are saying.  Let me say




I think the feasibility of detection depends on the point of measure-




ment.




     If you wait until the radioactive material is dispersed in the




environment, and you go out and try to measure environmental levels,




it becomes extremely difficult at these low levels.  Although with




research instrumentation, as you well know, you can get extremely low.




But, if you do put your emphasis on the point of control, on the




source, and do your measurement there, just behind the  HEPA filters,




to measure materials while you have it in a small volume, then you




can detect extremely low levels.




     Dr. Radford:  Does not that pose certain special problems when




you are talking about particulates coming out?




     Mr. Rogers:  No question.  There is no question that it does pose




problems and it takes a very substantial technology and very sub-




stantial effort to contain the material and then to do  the right




kind of monitoring programs to show what you are doing.




     But we feel we should go ahead and take those kinds of measures.




Let me emphasize one thing.  I think there is a good deal of misunder-




standing as to what the AEC is doing in trying to define design objec-




tives and limiting conditions of operations for individual kinds of

-------
                                                                         793
facilities.  Those are derived working limits, working levels for




the purpose of design objectives.  Many people are confusing that with




the basic standards and saying we have reduced the basic standards.




That is not true.




     The basic standards apply with all sources of exposure, except




natural background and medical exposures.  When an engineer goes to




design a reactor or reprocessing plant, he has to define system per-




formance requirements.  Therefore, there have to be numbers to design




against.  It is these design objectives which we are defining, which




is based strictly on the basis of technology.




     It so happens that with technology, you can get down to a level




of risk which we consider to be approaching the trivial level,




extremely low levels.  Having reached those levels, we feel that the




problem then is solved, that those are design objectives for limiting




conditions of operation, not lowering the basic standard, nor are they




considered as limits as such.




     Dr. Radford:  I understand.




     Dr. Mills:  Dr. First?




     Dr. First:  In all of your statement, you qualified your environ-




mental limit as for normal operations.  What would be a practical number




considering perturbations and upset conditions and so on?  Would this




change in any way?




     Mr. Rogers:  What I use in normal operations takes into account




perturbations and unusual kinds of operation.  What I am trying to do




is differentiate between accidents and normal operations.

-------
794
     Dr. First:  I take it, accidents then,  are those in which some




considerable amount of activity escapes the containment, et cetera?




     Mr. Rogers:  Our basic approach to accidents is to require the




design and safety system to make the probability of the accidents




extremely low.




     Dr. First:  Just one other minor point I would like to ask about.




In Appendix B, where you discuss how you arrived at the least




reasonably achievable levels, you state that you keep looking at




the problem go lower and lower in emissions.  I am on page 11.




     You say the cost effectiveness is determined at a point where




further reduction of risk would not be justified by the effort to




accomplish it, as you get less and less risk reduction per unit cost.




     What is the other end of that equation?  How do you make this




determination, when the dollars are no longer worthwhile?




     Mr. Rogers:  Of course, this is one of the most difficult and,




perhaps, one of the most controversial areas.  It is in this area that




I suggest that the EPA might help us in providing some guidance.




     If you look in the light-water reactor area, let me say first, we




feel that you have to consider both the population dose as well as the




dose for the individual.  These both have to be considered, both the




individual as well as population dose.




     There are going to be times when the dose to the individual will




be controlling over the population dose.  It is a very difficult,




subjective kind of decision to make, but in the light water reactor

-------
                                                                       795
area, the design objectives and limiting conditions of operation are




recommended by the staff in their final concluding statement.




     I think for whole body doses, it turns out the range is on the




order of 200, 250, 300 dollars, perhaps, per man-rem; some lower than




that.




     In the literature, suggestion has been made of dollars per man-




rem from a few pounds sterling, I believe, up to ranges, perhaps, to




$1,000 or less than $1,000 per man-rem.  There are estimates all within




that range.




     I do not know how valid these numbers are, and this is where




judgment is very difficult.  I think this is where we really need




guidance.




     Dr. Mills:  Dr. First asked my question about the selected number.




As you know, we have been battling about this number for some time as




to where it should be.




     I think you are right.  It is very complex, a complex decision to




make.




     The only minor question I have has to do with this question of




background.  Are you proposing that the process for establishing the




standard for the nuclear industry as a whole should be related to




natural background, or should we use natural background to put the




inner risk that we might assign in the proper perspective?




     From time to time, I have heard people say there should be some




percentage of background.

-------
796
     Mr. Rogers:  No.   I  think our basic approach to controlling the




 releases that  I have outlined here is with emphasis on developing




 of  sound technology with  the basic philosophy of trying to contain




 the materials.




     You know, it turns out that with technology, it is feasible to




 get down to  levels which  are on the order of just a few percent of




 natural background.




     It is my  own judgment, and this is my personal feeling, that you




 reach a level  where the residual risk is so small, and it is in this




 range of percent or so  of natural background radiation, that you reach




 a level of risk where the risk is so small it is simply not worth the




 effort to try  to eliminate that residual risk.




     I think our cost-benefit analysis generally supports that when you




 get down into  that range, your costs start going up rather rapidly.




     Certainly, natural background radiation is probably the most




 valid indicator that we have as to the relative risk of radiation as




 a comparison.




     Dr. Mills:  No more  questions.




     Thank you very much.




     I have  been asked  to make an announcement.  EPA will have a copy




 of  all the written material submitted available for inspection on




 Monday, December 16, in the EPA Freedom of Information Office.




     As was  announced earlier, the transcript will be available within




 30  days.




     Next we have the representatives of the Westinghouse Electric

-------
                                                                         797
Corporation,  Power Systems  Division, Mr. Kramer and Dr. Wright.




     Dr.  Kramer:   Good  afternoon, gentlemen.




     Before I begin,  may  I  ask  if it will be possible for Dr. Wright's




talk and  mine to  be consecutive and then have the questions afterwards?




     Dr.  Mills:   Fine.

-------
798
                             STATEMENT BY








                           FREDERICK W. KRAMER




               ENGINEERING  MANAGER, NUCLEAR FUEL DIVISION




                    WESTINGHOUSE ELECTRIC CORPORATION








                              BEFORE THE








                     TM\/T DOMMCMTAI  D nnTrrTT AM « P--HCM/
                                                   DECEMBER 10, 1974

-------
                                                                       799
     My name is Frederick W.  Kramer.   I  am the Engineering  Manager  of  the


Nuclear Fuel Division of the  Westinghouse Electric Corporation.   I  am


accompanied by Dr.  James H. Wright, Director of the Environmental Systems

                                                       *
Department, who will  also speak, and Roger E.  Wills of the  Westinghouse


Law Department.




     I am pleased to  have this opportunity to appear before you  on  behalf


of Westinghouse and to participate in the Environmental  Protection  Agency's


effort to ascertain whether there is a need to establish  new  environmental


guidelines or standards at this time.  I will  direct my remarks  to  cate-


gories 1, 4 and 5 of  the Federal Register announcement.   Dr.  Wright will


address his remarks tc categories 2 and  3.




     We believe that  the most complete information on the social  and


economic implications of using plutonium as applied to our  environment

and to the national economy is available in the AEC draft publications,

WASH-1535 (March 1974), "Environmental Impact Statement for LMFBR Industry,"

and WASH-1327 (August 1974),  "Generic Environmental Impact  Statement for

Mixed-Oxide Fuels."  The statements represent two uses of plutonium in

generating nuclear power.  As explained  later, these applications are


expected to utilize virtually all of the plutonium made  available commer-


cially for several  decades.   Basically,  WASH-1327 describes the  near-term

-------
800
                                    - 2 -

   situation where  plutonium will  be recycled in LWRs, while WASH-1535 covers
   the transition from  this usage  to application in a breeder industry through
   the year 2000 and  beyond.

        Both reports  provide extensive reviews of the benefits of plutonium
   utilization in power generation, and both include  relevant information on
   potential environmental and  public health impacts.  Additionally, the AEC
   is currently reviewing  various  aspects of the entire fuel cycle.  These
   activities should  provide an important base for any reviews of plutonium
   and transuranic  guidelines or standards, and we anticipate that the EPA
   will work closely  with  the AEC  to develop coordinated and integrated
   radiation protection guidelines  in a systematic manner.

        We recognize  the benefits  and risks of plutonium are a subject area
   which commands a great  deal  of  attention, and we welcome the EPA's public
   airing of this subject.  While  this public hearing and related AEC efforts
   can go far toward  placing the use of plutonium in  perspective, it is
   important in considering possible new standards for plutonium that such
   efforts eliminate  any alternatives which on balance offer little or no
   benefit at a significant cost.

-------
                                                                      801
                                  - 3 -

     For example, if a standard were to be adopted which  permitted,  as  a
limit, releases from nuclear facilities of only a small  fraction  of  fall-
out levels, environmental measurements and effluent control  systems  required
to prove that such limits were not approached or exceeded could be very
extensive.  To adopt standards without carefully considering the  total
risks and benefits associated with nuclear and non-nuclear options (and
in the context of effects from widespread fallout versus  localized effects
from a few facilities) would be unwise.

     As part of any facility environmental report, a description  of  various'
control alternatives is presented in the context of a cost-benefit analysis.
Tiiis cobl-uenefit approacn would be continued and, as required, extended  to
include entire fuel cycle or plutonium usage activities,  such as  were
included in the AEC's Generic Environmental  Impact Statements.  In this
regard, we would suggest that the EPA consider the value  of preparing  an
environmental impact statement for any contemplated new  standards — one
which includes a detailed cost-benefit analysis -- in view of the desirable
social results of sucn preparation.

     For instance5 preparation of the impact statement would provide for
improved planning and coordination, a greater likelihood  that decisions
to further one environmental goal will be taken with the  awareness of

-------
802

                                  - 4 -



possible impacts on other environmental concerns, fuller use of available

expertise through the extensive review process, substantial benefits of

public participation, and careful decision making through weighing of costs
                                                       *
and benefits.  A complete discussion of alternatives would allow for

stimulated and factual debate with constructive results.



     The implementation of general ambient environmental  guidelines or

standards for plutonium and the transuranium elements will eventually

require a determination of an emission standard for each  source of con-

tamination.  The validity of the ambient environmental standard as well

as the method for establishing the emission standard could greatly affect

the direct costs of facilities anu iiitiireclly affect the cost of energy

to the American consumer.  This latter issue has been raised in AEC

hearings, and it is appropriate that the extrapolation of the costs to

the American consumer should be addressed.



     In our detailed statement being submitted for the record, Westinghouse

identifies the general factors to be considered in the cost-benefit analysis



     Westinghouse has long held a position of leadership in the nuclear

industry, and we have accumulated substantial experience and knowledge to

demonstrate that plutonium can be handled and utilized safely.  The

Westinghouse Plutonium Fuels Development Laboratory has been on-line for

-------
                                                                     803


                                  - 5 -






five years.  The Fast Flux Test Facility is  approaching completion.   The


Liquid Metal Fast Breeder Reactor- represents a new generation  in  reactor


development.  The Hestinghouse Recycle Fuels Plant is  in the  licensing
                                                       *

process today and is destined to be the industry's first full-scale


Plutonium fuel fabrication facility.





     In recent months, Mestinghouse has been engaged  in detailed  evaluations


of the impact of plutonium on the environment for each of the  programs


mentioned above.  These environmental reports are in  the public domain,


and I would encourage interested citizens to inspect  them.  Only  in  this


manner can the depth of study involved be fully appreciated.





     Our actual  operating experience  with plutonium handling  and  processing


has been achieved at the Plutonium Fuels Development  Laboratory  (PFDL)


located at Cheswick, Pennsylvania.   This laboratory has provided  extensive,


practical experience in the fabrication of plutonium  fuels  and is the


source of mixed-oxide (PuO^ - U0?)  fuel elements  which have already  been


successfully demonstrated in operating reactors.





     Since 1969, Westinghouse has conducted  a program  of monitoring,


measuring and controlling both gaseous and liquid effluents at PFDL.


Detailed data are presented in our written submission  but a few summary


notes are significant:

-------
804
                                     - 6 -

         1.   Monitored  airborne releases from PFDL have been found to be
             less  than  detectable levels, even while minimum detectable
             levels  have been  reduced through the increased sophistication
             of measurement methods.

         2.   Liquid  releases at the point of discharge are less than four
             percent of the maximum permissible concentration.

         3.   Activity levels in the plant sanitary sewer are approximately
             three orders  of magnitude lower than the maximum permissible
             concentration, and those levels measured in the Allegheny
             River are  approximately seven orders of magnitude lower than
             MFC,  which is indistinguishable from the plutonium present in
             the environment due to fallout background.

         It should be stressed that these are normal, anticipated levels
    expected as a  function of  plant design and operational control as well
    as  environmental background.  This is pertinent experience and should
    be  carefully considered in judging the adequacy of existing standards.

-------
                                                                       805
                                  -  7 -

     Of further interest is our study to identify  and  to  quantify  potentjjj
radiation exposure pathways for humans and other biota living  within  the
sphere of influence of the several  facilities.   These  are necessary  to
establish an environmental monitoring program which will  effectively
quantify unusual  conditions as well  as monitor normal  conditions antici-
pated.  My written statement discusses the exposure pathways related  to
PFDL and compares their maximum impact with natural background levels.
In each instance, the maximum potential  exposure is a  small  fraction  of
the natural background.  It is important that a continuing study be  con-
ducted to 'refine  models as knowledge is  gained and to  evaluate operating
data as it is generated, and Westinghouse is doing this.

     Several reliable predictions are available projecting uses of
plutonium, both in light-water and breeder reactors for commercial power
generation.  The  Westinghouse forecast is presented in the written state-
ment for the period 1975-1990, and the data are consistent with those
estimated by the  AEC.  It shows a cumulative usage of  less than 200
metric tons of plutonium by 1985 and approximately 1400 metric tons  by
the year 2000.   The curve shows slow initial growth in usage,  relatively
large increases after 1985, and ultimately the changeover in application
from recycle in LWR plants to use by the breeder industry.   The gradual
start means another decade is available for resolution of ultimate waste
disposal and for  refinement of safeguards.

-------
806
                                     - 8 -

        The Westinghouse Recycle Fuels Plant (RFP)  will  be  the  first  fuel
   fabrication facility sized to process large  quantities of  plutonium.
   Environmental  and safety analysis  reports for this  facility  are  detailed
   in Docket No.  70-1432, wherein the plutonium confinement practices are
   evaluated in depth.   Briefly, the  manufacturing  building will  be designed
   to withstand earthquake and tornado conditions and,  within this  structure,
   a second specially shielded "canyon" will house  all  the  equipment  required
   to fabricate plutonium fuel.   Jhis canyon serves the  dual  purpose  of
   positively confining the plutonium to a  restricted  area  together with
   providing protection for all  personnel.   Of  particular interest  is the
   ventilation system which is designed to  remain functional  under  design
   basis accident concli Liuiib including a Lornado or earthquake.   Ihe  high
   efficiency filtering system is also protected with  a  fire  suppression
   system and, of course, all exhausts will  be  continuously monitored.

        Current regulations require that the facility  must  have the capability
   of being decontaminated and decommissioned.   Since  the design of the  canyon
   must necessarily provide for equipment maintenance  and replacement, many
   features required for decommissioning are inherent  in the  design.   The
   systems and barriers can all  be removed  and  packaged for ultimate  disposal.

-------
                                                                      807
                                  - 9 -

Conclusion

     At present, the number of commercial  facilities handling plutonium
is small.   The environmental  and safety requirements for such facilities
are already rigorous and demanding.  These requirements  reflect the
cumulative experience of a variety of operations  under AEC control  and
the newer demands of NEPA.  Benefits are also resulting  from the continu-
ing and extensive AEC-supported R&D programs related to  environmental
transport and health effects.

     Much of this information  is new, and  its application will  be factored
iriio the new or planned commercial facilities.   Consequently, it may be  a
few years before extensive experience and  data  are obtained on  the  actual
releases from such facilities  and their environmental  pathways.   While we
are confident that the results will confirm what  we are  finding at  the
PFDL -- that plant operation  has a negligible effect on  the environment  --
it is appropriate to obtain further data before modifying the existing
standards.  We believe that the current regulations and  procedures  for
controlling releases, of plutonium and the  other transuranium elements  are
adequate, and there is merit  in obtaining  further operational experience
and R&D results before developing revised  or additional  standards.

-------
808
                                    - ID -

        The slow increase in plutonium utilization during the  next decade
    affords an opportunity to institute a well planned program  of data
    acquisition and environmental impact confirmation.  Environmental
    standards for plutonium can then be rationally modified,  if necessary,
    based on experience and need.  Westinghouse endorses an effort of  this
    type and pledges its cooperation with the cognizant regulatory agencies,
    In  the interim, it would be appropriate to continue to utilize the
    currently conservative regulations and guidelines for plutonium.

-------
                                                                       809
                               ATTACHMENT
                            DETAILED  COMMENTS

General

     The general  factors  to be  considered  in the  cost-benefit  analysis
include  the following:

     a.   present  environmental  standards:
         (i)    costs  of equipment  and energy
         (ii)   risks

     b.   present  operational  standards
         (i)    costs  of equipment  and energy
         (i i)   ri s ks

     c.   reliability  of extrapolation from operational  limits  to  ambient
         environmental  standards

     d.   incremental  costs  and  risks  from  the  sources within the  fuel
         cycle

-------
                                  - 2 -
     e
.   differences  between  known  potential  adverse  consequences  and
   estimates  of upper  limits  of  potential  adverse  consequences
     f.  existing or presently planned facilities
         (i)    equipment costs
         (ii)   energy costs by requiring modifications
         (iii)  risks if retrofitting is not applied.

Applications Using Plutonium

     The principal use of plutonium will be as a fuel  in the generation
of commercial nuclear power,  West.ingho'.i^p, ?s a supplier to the nuclear
industry, is involved and concerned with that application both in Light
Water Reactors (LWRs) and Liquid Metal Fast Breeder Reactors (LMFBRs).

     The actual amounts of plutonium available for fabrication as fuel
at any point in time will be dependent primarily on the prior size of
the nuclear power industry, and many forecasts are available in the
literature.   Two of these predictions considered to be most reliable
are those published by the AEC in the draft environmental impact state-
ments for the breeder industry (WASH-1535) , and for plutonium recycle

-------
                                                                      811
                                  ""  3 "*

           o
(WASH-1327) .   Values  for plutonium  production  and  usage over  a  50-year
period trace the development of the  breeder  industry  in the  earlier  of
these documents, and the shorter-range recycle  within  LWR  plants  is
covered in the other.   The Westinghouse  forecast  for  plutonium usage
during the period through 1990 is  shown  in Figure 1,  and agreement within
the range of AEC sensitivity studies is  reasonable.

     Some significant  points in this prediction are the slow initial
growth in plutonium usage, the relatively  large increases  after  about
1985, and the changeover in application  from recycle  in LWR  plants to
use by the breeder industry.  The  slow start provides  another  decade
for full development of solutions  to safeguards and waste  disposal
situations currently under continuing evaluations.  During the period
of fast growth in plutonium supply through the  1990's, a commercial
breeder industry is also expected  to expand  rapidly.   At some  point
around year 2000, plutonium recycle  will no  longer  be  able to  compete
economically, and the  breeder industry should utilize  essentially all
plutonium supplies.  Pinpointing-that date is relatively unimportant
in respect to environmental factors, since adequate safeguards and
safety measures will be provided to  protect  both  the  public  and  the
environment regardless of the specific application.   Hestingnouse also
expects to be involved in fabrication of both fuel  types well  in  advance
of that date.

-------
812



                                      -  4  -







         In respect to the inquiry concerning  possible  releases to the



    environment, Westinghouse has  accumulated  release data  from five years



    of operation of the Plutonium  Fuels  Development  Laboratory (PFDL) at



    Cheswick, Pennsylvania, and this  information  is  detailed in the site



    environmental  report Docket Number 70-1142.   Based  on this operational



    experience of PFDL and in compliance with  criteria  set  forth in 10CFR20,



    70, 73 and other federal, state and  local  requirements, the Westinghouse



    Recycle Fuels  Plant (RFP) is being designed for  operation in about  1979.



    An environmental report for this  site  and  facility  is detailed in Docket



    Number 70-1432.







         A'ltnough  the recycle of plutonium as  a fuel in nuclear reactors



    increases the  quantity of in-core plutonium,  this material is not a



    significant component of the radioactivity in the waste and effluents,



    nor will it increase the volume of waste and  effluents.  Also, no



    significant contribution is expected from  the LMFBR system where the



    in-core plutonium content will  be higher than in LWRs.







         The overall environmental  effects of  reactor utilization of plutonium


                                                           1  2
    are discussed in detail in the AEC environmental reports  '  .  Westinghcuse



    concurs with the conclusions in these  documents, that plutonium can be  and

-------
                                                                       813
                                  - 5 -

should be utilized for economic power generation with adequate protection
to the environment.   These documents stress  the fact that existing environ-
mental design requirements and features are  constantly being evaluated and
improved.  A principal concern in the utilization of plutonium has been
application of proper security and safeguards measures, and continuing
efforts on the part of both the AEC and industry are improving these
aspects of plutonium utilization.

Con tro 1 _ and C_1_e an up Te ch no 1 o qy

     Plutonium fuel  fabrication operations  are performed in facilities
with engineered physical barriers and ventilation systems designed to
confine plutonium.  In general, existing facilities utilize glove boxes
as physical barriers, and directional air flow to protect and isolate
the workers from plutonium and also to eliminate release to the
environment.

     The air and gaseous effluents pass through at least two high
efficiency particulate air (HEPA) filters in series.  These filters are
tested individually and in place using DOP  (diocty phthalate) to assure
a minimum efficiency of 99.97%.   In addition, the exhaust is continuously
monitored and shut down in the unlikely event that plutonium is detected

-------
814
                                       -  6  -

     in the exhaust  air.   The  air  is  also sampled  and  sensitive analysis  of
     the samples  made  in  order to  monitor the  operations  at very  low concen-
     trations.

          Liquid  waste from  operations  within  the  confinement system is
     solidified or evaporated  and  packaged  for transport  to a transuranium
     solid waste  disposal  site.  Liquid effluents  from areas outside of the
     confinement  systems  are quarantined  and analyzed  to  verify that the
     Plutonium  concentration is  acceptable  prior to  release.  If  plutonium
     is found,  techniques  such as  precipitation, filtration, evaporation  anr<
     ion exchange are  employed to  remove  the plutonium, and the effluent  is
     ctyain quarantined and analyzed to  verify  the  removal  prior to  release.

          1'Iestinghouse is  convinced that  technology  to control and  restrict
     the release  of  plutonium  to the  environment from  fuel fabrication opera-
     tions is  feasible and has been demonstrated at  the Westinghouse PFDL
     and further  extended  into the design for  the  RFP.

          Another inquiry  was  made concerning  availability of technology  to
     restore fuel fabrication  facilities  which become  obsolete or are shut-
     down for  other  reasons  to general  use.  Hith  the  exception of  the

-------
                                                                      815
                                  - 7 -

confinement system, these facilities will  be maintained free of plutonium
contamination during the operational period.  These confinement systems
must then be decontaminated to levels required for disposal  and the
remaining contamination must be fixed in place to aid in contamination
control during removal and transportation.   These systems or barriers
can then be removed and packaged for disposal  at a designated transuranium
waste disposal facility.  Final cleanup of the basic structures can then
be completed.  Features to facilitate decontamination and decommissioning
will be included in the facility design.  Thus, current cleanup and con-
trol technologies are adequate for fuel fabrication facility decommission-
ing.  The plutonium fabrication facility owned by Gulf-United Nuclear  and
located in Pawling, New York, is illustrative  of a plant being returned
to general use.  According to a former Gulf-United Nuclear official, the
facility has been decontaminated and a request is being made to the AEC
to release the facility.  The decommissioning  of the Elk River Reactor
Plant is another example that available technology is suitable.  This
decontamination program is reported in a series identified as Docket
Number 70-1151.

     A document entitled "Program Plan for Decontamination and Decommis-
sioning the EBR-1 Complex at NRTS" (CONF-740406-21, 1974) has also been

-------
816
                                     - 8 -

   submitted to the AEC by Aerojet Nuclear Company.  This program provides
   for the removal and processing of the EBR alkali metal coolant (the
   eutectic alloy of sodium and potassium), the decontamination of all
   radioactive contaminated portions of the complex, the demolition and
   removal of those portions which could not be made safe and/or detract
   from general appearance of the area, and rendering of EBR-1  safe for the
   public use and enjoyment as a registered national historic monument.

        These examples cited demonstrate that the necessary technology and
   expertise is available to restore nuclear facilities to conditions
   acceptable for general use by the public.

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                                             817
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-------
818
                      PLUTONIUM AND THE TRANSURANIUM ELEMENTS
                                  Testimony of

                          Dr.  James H. Wright, Director
                   Westinghouse Environmental Systems Department
                                    Before  the

                Hearing Panel  of the Office of  Radiation Programs
                         Environmental  Protection Agency

                                 December 11,  1974

                                 Washington, D.C.

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                                                                            819
     I am James H.  Wright.   I  reside  at  1195  Colgate  Drive, Monroeville,
Pennsylvania.   I am director of the Westinghouse  Environmental  Systems
Department.   My educational  background,  including a Ph.D.  in  Chemical
Engineering, and 30 years of professional  experience  in  the field of
energy systems and  related environmental  effects  are  detailed in the
attached biographical  information.

     The following  comments relate  to your questions  on  environmental
effects and on environmental levels and  pathways.

     It seems to me that any discussion  regarding these  factors as  related
to plutonium and transuranic elements must be continuously reviewed in  the
light of general ambient environmental levels of  plutonium from bomb  fallout,

     In the time period 1951 to 1962  approximately 300,000 Curies of
plutonium were dispersed in the world atmosphere  with approximately
10 to 25,000 Curies over the United States.  It would seem clear that a
study of the dispersion and ultimate  distribution of  this  high quantity
of plutonium would  provide profoundly significant results  regarding overall
plutonium migration and pathways to man.   We  have made only a cursory
appraisal of this situation, using  data  reported  in the  literature, and
are convinced that  much important information bearing on your deliberations
here can be obtained.

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  820
     In our simple study we attempted to develop  a  material  balance
based on reported plutonium concentrations  in  the environment.   Starting
with the atmospheric source terms just mentioned, we find  that  most  of
the plutonium is in soil and sediment and water with only  a  few Curies
remaining in the atmosphere.  From other data  we  have estimated that the
total human population of the world has a burden  of plutonium,  at the
present time, of probably less than 1/10 of a  Curie.  This point suggests
that gross effects of all pathways to man from atmospheric plutonium
releases has an attenuation factor through  the environment of 3,000,000
to 30,000,000:  for each million units of plutonium released to the
atmosphere less than one unit of plutonium  vectors  to and  is retained by
the world population.  (Bair, W. J., Richmond, C. R., and  Wachholz,
B. W., A Radiological Assessment of the Spatial Distribution of Radiation
Dose from Inhaled Plutonium, U.S.A.E.C., September  1974, p.  29, WASH-1320.)
(UNSCEAR, Ionizing Radiation Levels and Effects,  Volume I:  Levels,  United
Nations, 1972, p. 54.)

     This preliminary study poses some interesting  considerations with
regard to the regulation of plutonium in the environment:

     1.  The world's population may have had a higher burden in the  lungs
         in the recent past when atmospheric contamination from plutonium  was
         much higher, and the pathway from  lungs  through the blood to bone,

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                                                                        821
    kidneys,  liver,  and  lymph  nodes  could  account for most of the
    current body  burden.

2.  The soil  seems to be the principal  repository for environmental
    Plutonium.  This repository seemingly  provides  a highly  limited
    mechanism for a pathway to man.   This  suggests  the  possible
    concept of "environmentally inactive"  plutonium.

3.  Leafy plants  consumed by man may be significant pathways to  man-
    particularly smokers.

4.  The data  provided by Bair, et al.,  also suggests that the  body
    burdens of the non-occupationally exposed man near  facilities
    handling  plutonium do not vary greatly from the general
    population.  This could mean that the  dominant  pathway is  not
    associated with distance, but is related to some common  trans-
    port system,  such as smoking, that  is  essentially  independent
    of distance.

5.  The consideration of fallout plutonium seems to establish
    considerable doubt on the pathway and  dose modeling used by  EPA
    (EPA 520/4-73-002) studies on environmental dose commitment  as
    applied to nuclear power.  Specifically, we have several
    problems  with this study:

-------
822
            (1)   The source terms  for a  given plutonlum handling facility
                                                                    o
                 were suggested to have  an  atmospheric release of 10   or
                   _g
                 10   of the plutonium throughput.  It is also suggested
                 in this report that future operations may even be  lower
                 than this.  Our experience verifies  the  latter statement.
                 But, the report then proceeds to  integrate over several
                 facilities and erroneously concludes that the summation
                 or fraction released for the total industry  is 100 times
                 greater than the fraction  released from  a single operation.
                 This is patently absurd.   The fraction is, after all, a
                 fraction of the total throughput  or  inventory.  This EPA
                 estimate of source term is high by a factor  of at  least
                 100.

            (2)   The pathway model to man contains an apparent gross error
                 (overestimate) in that the plutonium concentration was
                 obtained from a X/Q dispersion  of atmospheric releases
                 at 3 km from the plant and, then, this concentration was
                 uniformly applied to 1,500,000  to 15,000,000 people
                 assumed to be living within 80  km of the plant.  At  the
                 Recycle Fuels Plant and the Clinch  River Breeder Reactor
                 Plant, a population density of  less  than 10,000  people
                 within 3 km is a more typical population density.   For
                 fifty such facilities sometime  in the  next  century,  the
                 population dose actually expected would  be  100  to  1000
                 times less than the exposure model  apparently  incorporated
                 in this EPA report.

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                                                              823
(3)  The effective pathway  beyond the 3 km dispersion zone
     would be best approximated  using the dispersal, pathway
     and uptake information which can be inferred and derived
     from plutonium fallout.   These  data infer that only one
     part per 30,000,000  of the  plutonium released found its
     way to man.  The EPA vectors more than 1000 times as
     much to man.   The concept of resuspension of plutonium
     from the soil was incorporated  by EPA but is clearly not
     demonstrated in the  behavior of the fallout plutonium.

(4)  We certainly agree that  standards for protecting the
     public health of our citizens should be  established
     from a reasonable consideration of probable source terms,
     pathways through the environment and reconcentration in
     the ecosystem, and dose  effects.  We take no issue with
     the increased dose conversion factor which EPA incorporated
     but we feel that a study containing accumulative errors
     (overestimates) of more  than 10,000,000  from source to
     man in predicting health effects serves  no useful value
     whatsoever but it does alarm, unnecessarily, government
     regulators, industry and the general public.

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824
      We would strongly urge  EPA  to  Intensively  Investigate the environ-
 mental  fate of prior weapons plutonium  fallout  1n hope of developing and
 testing pathway models in the total  environment and,  hence, provide
 much better interpretation of the significance  of general ambient environ-
 mental  plutonium.

      Residual plutonium from bomb fallout also  has  a  significant effect
 on the relative impact of plutonium released  from the fuel cycle operation
 and on our ability to discriminate  plutonium  from fuel cycle operations
 in the environment.

      We are conducting environmental studies  of the Westinghouse Plutonium
 Fuel Development Laboratory (PFDL)  located at Cheswick,  Pennsylvania.
 Liquid and gaseous effluents have been  measured during the five years
 of operation of this plant in order to  determine compliance with
 10 CFR 20.  The effluent releases of plutonium  and  transuranic elements
 from this facility have been held to a  very low level -- within a small
 fraction of 10 CFR 20.  From our experience it  would  appear that plutonium
 fabrication plants will not be a significant  source of environmental
 plutonium.

      Environmental monitoring has  been  conducted  at this plant over the
 past year and many samples reflect  less than  detectable  concentrations
 of plutonium.  At these very low environmental  levels resulting  from
 plant operations, the problem of discriminating background plutonium from

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                                                                            825
plant released plutonium is  a most difficult problem.   Furthermore,  the
plutonium background fluctuates widely (a factor of 8 or 10 in  air,  for
example) further compounding the problem of discrimination.   These
data are contained in our environmental report on that facility recently
submitted to the AEC.  (Note:   environmental  reports in four  large
volumes were submitted for the record.  They  are available  for
review in  the Office  of  Radiation Programs, EPA, Washington, D.C.)
     Additional studies have been conducted by WESD at proposed sites
for new plutonium handling facilities -- the Recycle Fuels Plant --  a
facility for the fabrication of plutonium recycle fuel to light water
reactors, and the Clinch River Breeder Demonstration Plant.   In these
cases we felt that is was particularly important to make an accurate
determination of plutonium background long before any plutonium was
brought on the site.  We have encountered continued difficulties in  satis-
factorily determining background  levels to the precision required to allow
us to discriminate the small additional plutonium burden anticipated from
the operation of these facilities.   Particular difficulty has been encoun-
tered in obtaining reliable  sampling and analysis of the biota.

     In all of these cases,  we have  attempted to determine, by  calculation,
the dose through pathways to man  (See Figure 1) as well as the resulting
effects on the general ambient environment including biota.  We have
encountered particular difficulty with regard to monitoring animals  --  fish
and mice.  Using duplicate samples  and, eventually, spiked samples,  we  found
that the problems involved in sampling and analyzing low level  plutonium
gave a wide variation in results.   Retrospectively, it would appear  that  the

-------
   826                          s

costs of these low level determinations  are not justified  by  the  benefits
of the results to ourselves, our clients or to our society.

     We believe that low level  releases  (one hundredth  or  less  of MPC)
can be monitored at the plant with reasonable accuracy  but that the
probable error in environmental  sampling and analysis at or below general
background in an environment having wide fluctuations in that background
can be expected to be very large.  In the case of animal sampling, the
error, generally an overestimate, can be as high as a factor  of 10 or
even 100.

     Our conclusions are that calculated concentrations and doses through
the various pathways are more meaningful than environmental sampling at
the low concentrations found in the operation of PFDL.

     The dispersion of plutonium releases to water have been  both calcu-
lated and measured at PFDL.  The results indicate that  the calculated
dispersion pathway was in reasonable agreement with the environmental
monitoring.  At PFDL, the principal pathway of plutonium to man was calcu-
lated to be through fish feeding in the creek receiving the storm sewer
outfall from the plant.  A human's diet of 50 grams per day of fish from
that creek could produce a plutonium bone dose of less  than 1 mrem/yr.
In the  fish survey conducted, no edible fish were found in that creek.
A  few hundred  feet downstream from the plant, the creek flows into the

-------
                                                                          827
Allegheny River.   The dilution occurring here  greatly  reduces  the plu-
tonium content in the water and in biota growing  there.

     Air dispersion of plutonium from the plant stacks to  the  ambient
air have been both calculated and measured.  Calculated dispersion
concentrations yield results that are less than 1% of  background
plutonium at our on-site monitors and, hence,  have not provided a
quantitative basis for comparison of calculated and measured dispersed
concentrations.

     During the five years of PFDL operations, gross a has been monitored
in the stack effluent.  For conservatism, the  gross a  has  been assumed  to
be due to plutonium 238, 239 and 240.  During  the past year, isotopic
analysis measurements of a emitters in the stack  effluent  have indicated
that the plutonium represents less than 10% of the gross a activity.  Sub-
sequent analysis has identified that most of the  remaining a activity is
from uranium.  In the identification of the plutonium  isotopes, we  have
used the a energy to discriminate between Pu 238  and Pu 239.  Americium
241 is included with the Pu 238 because the energies are so similiar we
have not been able to discriminate at this time.   The  dose calculations
have been based on the assumption that all of  the a activity including
uranium and americium is soluble plutonium.

     In the present fuel used at the PFDL the  specific activity of
plutonium 241 is 34 times greater than the specific activity of all
the a emitting plutonium isotopes.  Therefore, in dose calculations,

-------
  828                            10
we assume that there is  34  times as much Pu 241 beta activity as measured
or calculated a activity.   Attempts to check this assumption suggest
that a 3 to a specific activity ratio of 20 to 1 is indicated.  Because
of higher volatility americium should conform to our estimated atmospheric
dispersion models as well as  or better than Pu.

-------
                                   ii                                        829

Recommendations
From our experience in environmental studies of transuranic elements it
would most certainly appear that the general ambient environment has a
(variable) plutonium content generally much higher than  the increment of
Plutonium from fuel fabrication.  I recommend  these actions for EPA with
regard to this problem:
     1.  EPA should establish standard sampling and analytical
         procedures for environmental  plutonium.

     2.  EPA should consider qualifying vendors for plutonium
         analysis.

     3.  EPA should prepare environmental monitoring guidelines for
         plutonium and transuranics with specific considerations for
         tracing low level plutonium;  e.g. when environmental  concentra-
         tion  of plant plutonium is  calculated to be a  small  fraction of
         ambient plutonium background, infrequent environmental monitor-
         ing is required just to verify the  general low  level.  With
         regard to other transuranic elements  I recommend that EPA suggest
         guidelines for routine industrial isotopic analysis  in order to
         be certain emission monitoring is conducted and reported  on a
         consistent basis.

-------
  830
                                   12

I recommend that EPA conduct  such research on the chemical fate of plutonium
and other transuranics  such that dispersion in air and water can be treated
on a more realistic basis  (particularly resolving the solubility question).

I strongly urge that EPA conduct extensive analyses of the fate of bomb
fallout plutonium in the environment with the specific objective of determining
demonstrated paths to man and,  then, to use these results in future pathway and
dose models used evaluating or  setting future standards.

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                                         831
NOUV1VHNI ONV ONINNIMS
                                   o

-------
  832
                               ATTACHMENT

                               BIOGRAPHY
                                   OF
                          DR.  JAMES H.  WRIGHT

     Dr. James H. Wright is Director of the Environmental  Systems  Department
of the Westinghouse Electric Corporation.  In this  position  he  is  responsible
for organizing and managing a unique team of environmental experts involved
in analyzing and interpreting environmental problems  associated with electric
power production and transmission and in  assisting  utilities and government
regulatory agencies in solving these problems.  His Department  has con-
ducted environmental studies for industry or governmental  agencies in
over half of the fifty states in the United States, the Commonwealth of
Puerto Rico, Italy, France, Romania and Japan, and  many of its  members
are internationally recognized experts in the environmental  impact of
power systems operations.  His Department also conducts the  Westinghouse
International School for Environmental Management.

     Dr. Wright holds a bachelor's degree in Chemical Engineering  from
Texas Tech University and a master's and  Ph.D. degree in chemical
engineering from the University of Pittsburgh.  His professional career
began in the oil fields of Texas developing and operating the first

-------
                                                                            833
industrial desulfurization plant for natural  gas and he continued his
research in desulfurization of petroleum and ionizing radiation in later
work at Mellon Institute of Industrial  Research.

     Dr. Wright joined the Westinghouse nuclear program in 1956 as a
reactor physicist and has since held key positions (Manager, Advanced
Reactor Systems and Technical  Director, Advanced Reactors Divisions) of
responsibility in designing, development and planning nuclear tehcnology
and projects.  Before his present assignment, he was Senior Consultant
to the Executive Vice President for Westinghouse Nuclear Energy Systems.

     Dr. Wright has been working the fields of energy systems and pollution
abatement in areas of design,  research and development, construction,
operation of energy use processes and environmental  effects for more than
20 years and has published more than ninety papers in the technical
literature, holding numerous patents for pollution abatement processes.

     Dr. Wright is a member of several  professional  societies including the
American Institute of Chemical Engineers, the American Chemical Society,
the American Society of Engineering Education and the American Nuclear
Society and is a registered professional engineer in the State of Penn-
sylvania.  He is also a consultant to various government agencies, including
the President's National Water Commission, and serves on the Committee on
Power Plant Siting for the National Academy of Engineers.

-------
 834
     Dr.  Wright is  a  dedicated conservationist, an ardent  fisherman, an
amateur mountaineer and maintains an active membership in  the  Sierra
Club, Trout Unlimited and other responsible environmental  organizations,

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                                                                        835
     Dr. Mills:  Thank you, Dr. Wright.




     I notice in your recommendation you do not recommend that EPA




set standards for plutonium.




     Dr. Wright:  No, I did not.




     Dr. Mills:  I have an initial question for Mr. Kramer.  Could you




give me a comment, please?




     In one case we are talking about planned releases of plutonium in




fuel fabrication plants and so forth; in another case, we are talking




about those I would classify as activities in which our concern is




with standards that are to keep the plutonium out of the environment.




Is it the decommission aspect we are talking about, or restorative kind,




to put the environment back?  Would you care to comment on how you see




the differences in these two types of standards?




     Mr. Kramer:  I think the first commitment we have is to be certain




in the design of the plant that any possible releases and exposures,




not only to the public at large, but to the people working in the plant,




are kept to an absolute minimum.




     I think in a sense by doing that you already have come part of




the way in achieving the second part of the goal, the ultimate restora-




tion of the environment.




     I cannot really speak in great detail to that latter aspect.  I




did note in reading this article which I referred to, they have pretty




high levels of activities.  I guess it was at the Savannah River Plant




where this dismantling took place.

-------
836
      By going through a very carefully planned program, I believe they




 were able to package up the material and equipment and actually dispose




 of it.




      Our particular design in our recycled fuels plant is going to be




 devoted more towards internal, inside the plant decontamination of equip-




 ment in a special facility, away from the basic process which will allow




 us to reuse or repair equipment and keep it on plant site rather than




 ship things offsite unnecessarily.




      Dr. Mills:  What I had in mind, let us take the current standards.




 The current federal radiation guides that were incorporated under the




 AEG regulations, that is, recognizing that you are not planning to




 release in any kind of fashion — What I am trying to get to is, is it




 reasonable to assume that we may, in fact, have to establish one type




 of standard to restore the environment as opposed to a different kind




 of standard when you are talking of preventive modes?




      In this reasonable?  I could discuss, Dr. Wright, to some length




 the EPA environmental dose commitment paper; however, I do not think we




 have the time.  But I will write to you and respond.




      One point having to do with the resuspension or the loss in




 inventory; you made the comment that the number had been taken from




 one single operation to the end.  I think the careful reading of that




 would probably indicate the extension to the industry as a whole was




 the loss in the whole inventory, not what each plant was supposed




 to do from a single operation.

-------
                                                                         837
     That is the fuel fabrication plant.  It addressed the question of




the loss of plutonium across the board in the matter of transportation




or what have you.




     Dr. Wright:  I recognize that I could not tell where a major change




or effect occurred.  I had assumed it had something to do with transpor-




tation, but I would like to discuss it with you at another time.




     Dr. Mills:  Dr. First?




     Dr. First:  First, on your discussion of the experience with the




PFDL and then the extrapolation of this information to the plant that




you are currently putting together, what are the relative sizes?




     And will the emissions be in proportion to the scale up factor?




     Mr. Kramer:  The PFDL at this time has a capacity of approximately




five to ten metric tons of fabricated mixed oxide fuel per year.  The




initial design level for the recycle fuels plant is 175 tons, but I




believe our environmental report and license application was based on




a 350 ton size.




     So it is an extrapolation factor of 35 to 70.




     I will let Jim answer the second part of the question.




     Dr. Wright:  In looking at the plutonium releases, we assume many




relationships between tons and releases.  We used the performance




numbers of the little plant and said, that is what the big plant would




be.




     Dr. First:  Presumably, the emissions to the atmosphere, at least,




would land at about the same places in the environment.  We would then

-------
838
 have an increase of 35 to 70 times on the concentrations at maximum




 ground level.




      Is that correct?




      Dr. Wright:  No, because there is an entirely different air flow,




 air mixing and dispersion scheme.  There is an entirely different basis




 of site parameters there.




      So the calculated concentrations, while the quantity is up by a




 factor of 35 to 70, the concentrations factor because of this, varies




 by a factor of, I think, about three instead of 35 to 70.




      Ur. First:  Looking at your recommendation that we should look to




 the fallout information for interpretation of plant emissions, I am




 wondering whether the analogy is exact enough in terms of the chemical




 form and physical form; the fact that around an operating plant, we will




 have plutonium deposited in a steep gradient, I would think, rather than




 a very uniform deposition.




      ~L am sure there are other differences.  Would you care to comment




 on that?




      Dr. Wright:  Yes.  I believe as long as it is deposited, the fact




 that it may be in a steep gradient or not, to my way of thinking, it




 becomes a far less difficult problem to deal with.




      It's that which is still in the air which is a greater concern to




 me, because again, the resuspension is fairly low, probably.




      In a country like Pennsylvania that has a fair amount of continuing




 rain and moisture— I have forgotten the first part of your question.

-------
                                                                       839
     Dr. First:  It was related to whether the analogy is close enough




with a good deal of certainty.




     Dr. Wright:  Yes.  I certainly would not advise that there is a




one to one relationship, but I suspect, and this point has been made




twice by Dr. Radford in discussions but with others, it has been




discussed extensively in the halls —




     Again, I did not understand in the EPA model, I do not believe the




gradient system was used.  If it were, then the minimum dosage would




have been far, far less.  I believe they used a much broader dispersal




area, because that is the only way to have gotten enough people exposed




to even get some indication of this.




     I was more or less going along with the EPA idea saying, this would




be over a wide dispersion.




     Point three, the comparison of the fallout with the plutonium from




fuel fabrication plants may be very close indeed.  I am not beginning




to suggest that it is as similarly close for the processing plants, but




from the fuel fabrication plants,  we have a typical mass median diameter




that would be 0.3 of a micron for plutonium oxide material.




     Thermodynamically, one certainly would predict the bomb test




fallout is in the form of plutonium oxide.  One finds also from other




evidence that they are using .4 particles in the air aerosols as a sink




for the plutonium that went into the atmosphere from the bomb.




     So I think there is far more similarity there.  I think this




hearing has done a great deal towards developing considerably more




similarity.

-------
  840
     Dr. First:  Most of the material from the bomb, for example,




was under very high heat conditions; at least the few particles that




I have observed under the microscope has been sterile and quite distinct




in their shape and appearance.




     I wonder whether this might have some influence in its redispersal




in the environment, for example.  I am not saying this is true.  I am




just bringing up the general question of the relationship.




     Dr. Wright:  Certainly I am not claiming one for one,  but I think




the fact that these particles are said to go on to .4 micron aerosols




suggests that as far as pathways to man, there is a great deal of




similarity.




     Dr. Mills:  Dr. Radford?




     Dr. Radford:  I would like to ask Mr. Kramer first, at the end of




his presentation, he implied a change in the current standards for plu-




tonium could be modified at a subsequent time.




     Based on experience and need, I think, is the wording here.  Now,




we have heard from various people, including Dr. Parker and Dr. Morgan,




I believe also, and others, that maybe there should be some predominant




revision of the plutonium standard at this time, somewhere between a




factor of ten and 100, depending on the number of factors.




     I get the impression from Jim Wright's presentation that this would




cause no difficulty whatever to Westinghouse in operating its fuel




fabrication facility.  Is that correct?




     Mr. Kramer:  Based on the experience we have had today, I would

-------
                                                                        841
have to say that we would be able to meet such new regulations.




     Dr. Radford:  All right.  Now, you state that the environmental




safety requirements for such a facility, this is a commercial facility




handling plutonium, are already rigorous and demanding.




     Does that mean that all plutonium handling facilities might have




difficulty in meeting more stringent standards?




     Mr. Kramer:  I am afraid that is a question which I have not got




the experience or information to be able to talk about.  I can discuss




our facility, but I am really not aware of detailed experience from




others, whether that would be a true statement or not.




     Dr. Radford:  Well, I asked the representative from another company




which will remain nameless, whether he thought that the handling of plu-




tonium at other facilities had been appropriate, proper, et cetera,




other than his own, so I am asking you the same question.




     Do you think that meeting these rigorous and demanding standards




has been achieved at other commercial facilities?




     Dr. Wright:  You threw me with that clause, you put "other




commercial facilities" right at the end.




     Dr. Radford:  OK.  I am making it commercial facilities.




     Dr. Wright:  The reprocessing plants certainly constitute a pro-




blem to everyone; whether or not they constitute a problem at this




moment, as the growth of nuclear power suggests that it would be well




in time to establish a total curie limit in addition to 10 CFR 20 limits,




which to my mind, are probably reasonable at the present time, from

-------
842
 everything I have  heard  over  these  two  days.




      Dr.  Radford:   With  regard  to operation of new plants, how would




 you characterize,  either of you gentlemen, the performance characteris-




 tics so  far in the whole nuclear cycle,  as far as meeting emission  limits




 and things of that type?  Would you say it has been  good, bad, or




 indifferent?




      Dr.  Wright:   I would like  refer on this  to our  plutonium fuel




 fabrication here.   I  think, as  far  as I know— I was thinking about the




 other,  the unnamed guy.   As far as  they are concerned,  I have no pro-




 blem, but there are some other  parties  which  suggest —




      Now, what was your  question?




      Dr.  Radford:   One of the issues very central to this matter is that




 much of  the technology that we  are  talking about in  dealing with alpha




 emitters in plutonium recycling is  not  on line.




      It  is projected.  We do  not have a body  of experience.  You have




 a pilot  plant operation  with  five to ten tons per year.  Are you going




 to scale it up to  350?




      The point I am trying to make  is,  when such scale-ups have occurred




 throughout the nuclear industries,  have in general the  projections




 panned  out?




      Dr.  Wright:   1 am sorry.   1 misinterpreted your question.  I think




 generally, Dr. Radford,  it certainly has projected out.  What it amounted




 to, when we got the large plants and started  measuring, in every case




 that I  am aware of, we have found that  large  plants  are better than

-------
                                                                      843
we would have extrapolated them to be from the total information on




the smaller plants.




     Dr. Radford:  Specifically scaling up the number of fuel rods,




did not Westinghouse experience some unexpected cladding problems




when you went to scale up?




     Dr. Wright:  No.  That was not a scale-up.




     Mr. Kramer:  This was not associated with scale-up, Dr. Radford.




They were associated with specific, single, and I might say one-time




occurrences, which were corrected and have not recurred.




     The causes of the specific instances to which 1 think you are




referring were not in any way associated with the size or volume effects.




     Dr. Radford:  But it is fair to say there was an unanticipated




occurrence?




     Dr. Wright:  This was a design change; a new fuel element was




developed, and with just a small number of modifications, it created




problems.




     But it really was not related to scale.  I have no evidence that




would suggest that our problems come on as we go up in scale.  My




evidence suggests the contrary.




     Dr. Radford:  Maybe the PWR has been lucky in this regard.  What




is the throughput on the current leading plant, fuel fabrication plant?




     Mr. Kramer:  I do not know.




     Dr. Radford:  Is it bigger thai; yours or smaller than yours, the




one in Oklahoma?

-------
     844
     Mr. Kramer:  Bigger than PFDL?  I have no idea what the size of




that plant is.




     Dr. Radford:  Does it even make oxide fuel commercially?




     Mr. Kramer:  I do not know.




     Dr. Wright:  That is why I stopped.




     Dr. Radford:  I have, I think, just  one more question here.




     I have no disagreement with several  of your recommendations




which obviously are aimed at fuel fabrication facilities.




     Would you just make some record statement as to how much more




difficult you think the problem may be in the fuel reprocessing




facilities than you believe they may be for fuel fabrication




facilities in containing the transuranics?




     Dr. Wright:  Certainly they have a much more difficult problem




to begin with.  They have all the radioactive isotopes from the fuel




to deal with.  They, fortunately, take out most of the curium, or we




never see any.




     They definitely have a much larger problem than we do from the




feedstock that they have to deal with.  I am persuaded that a good




processing of fuel, considerable recycling of liquids, can do a good




job; but it is a much more difficult job  than what we are involved in.




     I think I would better leave by just saying that it is a much more




difficult job.




     Dr. Mills:  Dr. Garner?




     Dr. Garner:  I would like to make just one comment rather than put




in a question.

-------
                                                                       845
     Several people during the course of these hearings have suggested




that we have plenty of time to conduct research programs.  You mentioned




there is going to be a slow building up that would give us plenty of




time to monitor such programs.




     I would like to point out many of the research programs we need




to resolve the problems we are faced with take considerably longer




than ten years to accomplish, and we would be in a very much worse




position than we are.




     I would like to say this.  It has taken much foresight.  We are




to start the second set of experiments.




     Dr. Wright:  My recommendations dealt specifically with your




comment.  Let us get on with research now.




     Dr. Mills:  Dr. Morgan?




     Dr. Morgan:  Dr. Kramer, you indicated that Westinghouse engaged




in detailed evaluations of the impact of plutonium, perhaps mostly




from the LMFBR operations and associated operations.




     Have you carried out detailed studies, also, in reference to the




fact breeder LMFBR and the light-water reactors?




     Mr. Kramer:  Most of the evaluations to which I referred and those




which I aia personally familiar with are in regard to recycle fuel in




light-water reactors.




     I do not know,  Jim,  whether you can address the LMFBR question?




     Dr. Wright:  Yes.   I think the question was answered by Dr.  Rogers




just a few moments ago.  We can certainly respect the performance of




the breeder in fabricated fuel as well as the operation of its reactor.

-------
  846
     We would expect the operation of the reactor would be comparable




in terms of transuranic elements, in this light-water reactor to be




comparable to what we are predicting for the mixed oxide fuels for




the light-water reactors.  We can see no reason to predict otherwise.




     Mr. Kramer:  I might add that,  to the extent that the breeder




uses a mixed oxide fuel, we do not see any differences in the basic




technology of fuel production between the light-water recycle or breeder




type fuel.




     Dr. Morgan:  One reason I asked is, I am a bit apprehensive in




studying over the draft reports of the analyzed fuel recycling, in




that they seem to assume that there be no additional problems, even in




the plant.




     For example, working with gloveboxes when you have a fairly con-




sistent and effective neutron source and high gammas around from some




of the other actinide elements.




     I hope these same inconsistencies are unreasonable assumptions,




that goes into the environment and estimates the risks.




     I have another question.  1 suppose this refers more to some of




the discussions I'unfortunately missed yesterday; but in your text




and discussion, you mentioned it.




     Namely, it is assumed, certainly in the draft report of the MOX




fuels that it is economically essential or very desirable to use this




plutonium mixed oxide in light-water reactors, but there are some nuclear




engineers that do not agree with this.

-------
                                                                        847
     They feel that if the LMFBRs are willing to make their imprint




in time and to supply their own sources, that there will be a scarcity




of plutonium and there will have to be some way of supplementing it.




     Perhaps you have some comment on this?




     Dr. Wright:  Yes.  I think that both points are right.  If we had




the breeders and light-water reactors on an optimum schedule, we would




never perform any plutonium recycle.  The plutonium would be, from the




first, fed into the breeder reactor.




     The breeder reactor, in order for this to have happened, would




have to be entering into the commercial stage.




     In 1980, where we would be building much or our breeders from




1980 on, use of the plutonium from light-water reactors in breeders




makes more sense, quite frankly; but our schedules are not coordinated.




     The breeder is on a much more delayed schedule than the light-water




reactors.  Instead of having a commercial industry starting up its first




breeders in 1980, there is some question whether or not we will have




a first  prototype operating in 1980.




     So the time scales on the breeder are such that it opens quite a




window for plutonium recycling.




     Dr. Morgan:  I gather,  then,  paraphrasing what you are saying,




is that this money that we have, it is better to invest it now at three




percent than wait later and invest it at ten percent?




     Dr. Wright:  Well stated,  sir.




     Dr. Morgan:  Dr. Wright,  I believe it was indicated that one over

-------
    848
30 billion of the plutoniuia fallout found its way to man.  Presumably,




this is the fallout that occurred, that which is accrued in man over the




relatively short period since atmospheric testing occurred.




     But since even plutonium 239 has a long half-life, if we estimate




the infinity of these effects and assume continuous availability of




certain — this still may not be as good as we would like to have it.




Is that right?




     Dr. Wright:  I would view it somewhat differently, Dr. Morgan.  I




would suggest if we integrated to infinity, we would get a diminishing




annual dose and therefore, any projections made on total dose today




would be because data shows that the atmospheric level where most of




our dose term has come from, up to the present time, is through the




atmosphere.  It is diminishing quite rapidly, having reached a peak in




1963, and then falling.




     Dr. Morgan:  So this one part of 30 million was an annual basis?




     Dr. Wright:  That was a gross basis, total curies.  It is inte-




grating over the 1950 to 1972 period.  I think that is when the data




was actually produced, so it is an integral over a 20 year period, but




going down rather strongly since 1963 in man.




     Dr. Morgan:  I believe you have a greater confidence in monitoring




the plants than I would have from my limited experience.  I gather that




if the levels were, I think you said, 100 or less of the MFC, that




monitoring the plant at least implied it can be relied upon.




     Certainly, one would not neglect certain essential verification of




the released data because with some reactors the inputs released were

-------
                                                                     849
not recognized, assumptions in meteorology that were not correct — So




I would think it would behoove us to store quite a bit of good data,




autopsy data, for example, from people living in the environment and




other information to verify this data we have, regardless of how low




the estimated releases are.




     Dr. Wright:  I certainly agree, and my conclusions recommend that




a frequent environmental monitoring certainly should be done to justify




the calculated low levels, that we must try to keep both ends of the




puzzle placed together.




     I quite agree.




     Dr. Mills:  Thank you very much, gentlemen.




     Dr. Rowe has indicated he would like to make an announcement.




     Dr. Rowe:  I just wanted to announce that we have scheduled




extensions of this hearing for January 10th at 9 o'clock in Denver,




at the Post Office Building.




     It will be an extension of this record.  It will not be a dupli-




cation of what has gone on.  However, there will be new testimony




inserted.




     We have five people who have requested us to have that hearing




in Denver, and the record will still be open for further entries at




that time.




     Thank you.




     Dr. Mills:  Let us take a break and reconvene in ten minutes.









     (Brief recess)

-------
   850
     The concluding participant on our agenda is Ms. Judith Johnsrud,




from the Environmental Coalition on Nuclear Power.




     Ms. Johnsrud:  Gentlemen, it is very late and you have questions




for the AEG panel.




     My name is Judith Johnsrud from the state of Pennsylvania.  I




am a geographer by profession.




     As a geographer, and as a member of the Environmental Coalition




on Nuclear Power, which is one of the Middle Atlantic States organizations,




I looked rather carefully over the last few years at the Atomic Energy




Commission's documents and at industry publications.




     I find a great deal to criticize, of course.  I am distressed today




to hear the comment that we need not worry about plutonium that is




essentially grounded in the soil.




     I wonder if perhaps the Westinghouse person who made this statement




has failed to consider deflations in periods of cyclical drought, for




example, which could very much change the locale.  This is one example of




the kind of thing we find.




     I am very much disturbed as this hearing has progressed at what I,




as a member of the public listening to the technical people speak, feel




is perhaps a diversion from the fundamental charge to this organization,




to EPA, and to this hearing board.




     You are much wrapped up in the details of how much plutonium we




are to receive.  This is how it appears to a member of the public.  I




wonder, perhaps, if there is not a tendency in a standard setting body

-------
                                                                      851
of this nature to consider the production, and therefore the need for




the standard to be a given of our society.




     That is to say, in view of the manner in which the nuclear industry




has grown and the weapons industry as well, to say, well, yes, we must




have plutonium.  Now our decision is to say how much plutonium.




     Let me ask you, please, as you conclude this phase of the hearings,




to keep very carefully in mind the real nature of the decision that you




will be making, which is a decision for society; not for our society,




really, so much as for future societies.




     Your decision on a standard allowable, which will in turn determine




the economic factors of a growing nuclear industry and perhaps weapons




industry continuing to grow, will affect far beyond all of us.




     I do not say this with disrespect to you, but I do have the feeling




that the details of standard setting, perhaps, have overwhelmed your




remembrance of this, as charged.




     Now, I hope not to have offended you.  May I give my very brief




prepared statement, which will be much more general than what you have




been hearing; but I hope you will find it pertinent.




     This statement on the environmental impact of plutonium and the




transuranium elements is provided for inclusion in the record of the




Environmental Protection Agency hearings on that subj ect pursuant to the




September 23, 1974, Federal Register notice 38FR24098, by the Environ-




mental Coalition on Nuclear Power, representing some thirty non-profit




public-interest citizens' organizations (approximately 10,000 members)

-------
   852






in Pennsylvania, New Jersey, Delaware, and Virginia.  Our organization's




member groups have participated in numerous reactor licensing proceed-




ings (1), in state and federal agency hearings on nuclear reactor safety,




siting, licensing and insurance issues (2), in varied public education




programs, and in successful opposition to the sitings of both a Plowshare




underground gas storage project and a Liquid Metal Fast Breeder Reactor




demonstration plant in Pennsylvania (3).




     The Environmental Coalition recommends, at least for the near term




future, that a zero release standard be imposed on plutonium until the




obviously fragmentary research on its impact upon ecosystems and upon




man as well as the procedures for containment and control of plutonium




is much greater advanced than it appears to be now.  Plutonium is a




man-made element; its extraordinary toxicity is attested to by others




more expert than we elsewhere in these hearings; the length of its




half-life makes of it in a human time scale an essentially permanent




biological hazard when any amount is released to the environment.




     That perfect containment of plutonium by the Atomic Energy




Commission and U.S. military forces, much less by commercial users, can




be achieved is not borne out by the record to date.  Atmospheric testing




during the 1950" s; the loss of a nuclear power generator SNAP-9A in




1964 (4); the loss of the plutonium power source in the lunar module




during the re-entry of the ill-fated Apollo 13 in 1970 (5); the Dow




Chemical Company's Rocky Flats plutonium plant fire in 1969, as well as




numerous earlier fires; the Hanford works Z-9 trench plutonium storage

-------
                                                                        853
problem; and the Mound Laboratory loss of plutonium to the Old Erie




Canal, discovered in 1974 (7) are among instances of unplanned releases




of plutonium to the environment.  The Washington Post has recently




carried a brief account of the EPA report of plutonium contamination




of the lungs of cattle downwind from the Rocky Flats plant near Denver,




Colorado (8).  We would, in fact, amend our recommendation for a zero




release standard to a negative release standard, and call for concerted




effort by AEC's successor agencies and the military to recover and




permanently store the plutonium already released to the environment.




     The information which we submit to this hearing board relates to a




particular aspect of control of special nuclear materials — namely,




blackmarket sales of plutonium.  I include it to bring us back from the




theoretical calculations that the industry has given you, its intention




for perfect containment, to the way the world really works.  In November




1973, individuals in our member groups were offered, through a reputable




and reliable acquaintance, an opportunity to purchase alleged stolen




plutonium.   The particulars, as I received them, were these; the person




known to us, who might be termed a dedicated environmentalist himself,




had encountered an unnamed man who, in the course of conversation, men-




tioned that he had access to very valuable material that would fetch a




high blackmarket price.  The figure named was $1000/gram.  Our acquain-




tance pursued the subject, discovered the man was talking about plutonium,




and suggested that he knew of persons who might be interested in proving




that a stolen plutonium blackmarket is more than mere conjecture.  The




offer came  to us shortly after conclusion of Atomic Safety and Licensing

-------
   854
Board hearings on an operating license for Metropolitan Edison's Three




Mile Island I reactor near Harrisburg, Pennsylvania,  at which then-Com-




missioner Herbert S. Denenberg of the Pennsylvania Insurance Department




had testified as a witness for our intervenors.   Apparent effort on the




part of the applicant's attorneys to block Dr.  Denenberg's appearance




aroused a certain subsequent question in our minds about the authenticity




of the plutonium offer that came to us, as I recall,  within a week of




termination of the hearings.




     We had no way of assessing the validity of the offer.  We were




unfamiliar with the proper legal procedure in such a situation.  As




law-abiding individuals, we were reluctant to pursue the offer at all;




and yet an opportunity to demonstrate the ease with which this hazardous




material might be obtained was tempting.  Therefore,  we suggested that




the acquaintance try to learn more about the man who had made the




initial proposal while we tried to find out what authorities we should




contact.  I would emphasize that it appeared to us mainly as an opportunity




to gain public notice of what seemed to be the reality of a plutonium




blackmarket.




     Two or three weeks later, in early December, I spoke with a well-




known investigative reporter in Washington about the matter.  He advised




precisely what we were doing; obtain more firm information before going




to the authorities.  A few days later, the initial installment of




John McPhee's profile of Theordore B. Taylor was published in the New




York magazine.  Lacking any further information about the man who had

-------
                                                                      855
originated the offer, I concluded that we had insufficient facts to




pursue the matter further.  Nuclear theft and diversion became a much




publicized issue through the efforts of Dr. Taylor and Mason Willrich




during 1974 (9).  Our small incident seemed insignificant, compared with




the scenarios of sabotage and rings of international terrorists.




     The point which we believe is pertinent to these proceedings, however,




is this; in trying to figure out a way to maximize the publicity (10)




value to be gained by proving the availability of illicit plutonium, one




person suggested the following:  rent a plane, fly over the nearby reactor,




scatter the small quantity of plutonium, and then contact the press and




the AEC to inquire how accruately the monitoring devices had been able




to measure the amount released in the reactor vicinity.  Those of us




who understood the toxicity of plutonium were appalled by this suggestion




and promptly squelched it.




     It should be noted that Willrich and Taylor in general make the




assumption of malicious intent to use plutonium as an anti-personnel




device.  But I suggest to this hearing board that, if a person devoted




to environmental protection was so ignorant of the biological hazard




presented by a minute quantity of plutonium, how much more ignorant are




others who would be engaged in the commerce of this toxic substance in




the quantitities anticipated in a fully developed breeder reactor




program?




     Next, we would direct your attention to an AEC document on "Reactor




Fuel Cycle Costs for Nuclear Power Evaluation," in which charts appear




to indicate anticipated losses of up to 1% of material at various stages

-------
  856
of the fuel cycle.  Whether this estimate refers only to "not economi-




cally recoverable" fissionable material that remains in contained




wastes or to that lost substance category, known as MUF, or "material




unaccounted for," seems unclear.




     I would, parenthetically, add that in that same document,  adding




to our skepticism of AEC predictions, I note that there is a cost state-




ment attached to the G. E. Midwest fuel recovery plant of 17.4  million




dollars.  As you may recall, when it was announced that it would not go




into operation, something in excess of 60 million dollars had been




spent on the plant, the anticipation being that it would cost a factor




of ten higher to put it into working order.  We would ask that  this




board investigate and make public the records of the Numec Corporation




operations in Apollo, Pennsylvania, with respect to inventory losses of




fissionable materials during its years of operation.  It seems  clear




from the 20-30 year operational record of the nuclear industry  that




materials handling systems are insufficiently perfected to ensure that




plutonium will not be diverted, intentional or otherwise, and thereby




reach the environment.  Subsequent human injuries could not be  compen-




sated since the chain of causality could not be proven by the damaged




party (12).




     Finally, we suggest that the failure of the Atomic Energy  Commission




in nearly 30 years of research to develop and adequately test long-term,




essentially permanent, effective storage methods for long-lived radio-




active wastes argues strongly for zero production of these wastes.  In

-------
                                                                       857
view of the faulty record during this full human generation of plutonium




production, we contend that only a rigidly enforced zero release standard




for plutonium is appropriate to the protection of present and future




public health and safety.  The best way to enforce a zero release




standard is to set a standard of zero production of plutonium.




     We appreciate the opportunity to present this information and our




recommendations to the Environmental Protection Agency.




NOTES




1.   Since 1970, the Environmental Coalition on Nuclear Power, or its




member groups, have intervended in construction and operating license




hearings before Atomic Safety and Licensing Boards in the cases of




Philadelphia Electric Company's Limerick I and II reactors, Peach-




bottom I and II, and Fulton I and II; Public Service Electric and




Gas Company's Newbold Island I and II (Project cancelled at that site);




and Duquesne Light Company's Beaver Valley I and II.




2.   See, for example, proceedings of the Pennsylvania Senate Select




Committee Hearings on Nuclear Power Plant Siting, Harrisburg, Pa., 1970;




Governor's Select Committee Hearings on Alleged Health Effects from the




Shipping port Reactor, Aliquippa, Pa., July, 1973; Pennsylvania Insurance




Department Hearings on Nuclear Safety and Insurance Risks, Philadelphia,




Pa., August, 1973; U.S. Congress, Appropriations Hearings, 1972; Joint




Committee on Atomic Energy, Hearings on Siting and Licensing Legislation,




March, 1972; Hearings on Proposed Siting and Licensing Legislation,




1974 (in press); Hearings on Possible Modifications or Extension of the




Price-Anderson Insurance and Indemnity Act:  Phase I:   Review, January,

-------
  858
March, 1974; Phase II, May, 1974 (in press).




3.   See Richard S. Lewis, The Nuclear Power Rebellion;  Citizens vs




the Atomic Establishment, 1972




4.   U.S. AEG, Major Activities in the Atomic Energy Programs, Jan-Dec.,




1965




5.   See New York Times, April, 17, 22:7, April 18, 13:1, 1970




6.   New York Times, June 25, 3:6; June 27, 10:3, 1969; Feb. 11, 1:5,




1970; Sept. 27, 77:2, Dec. 22, 9:4, 1973




7.   New York Times, May 15, 48:2, 1974




8.   The Washington Post, December 6, 1974




9.   See Mason Willrich and Theodore B. Taylor, Nuclear Theft, Risks and




Safeguards;  A Report to the Energy Policy Project of the Ford Foundation,




1974.  Also see John McPhee, The Curve of Binding Energy, 1974, ori-




ginally appearing in The New Yorker, issues of December, 1973.




10.  See accounts of Mr. Sam Lovejoy's encounter with the meterological




tower at the Montague reactor site in Massachusetts, New Times, November,




1974, also in the New York Times.




11.  U.S. AEC, Reactor Fuel Cycle Costs jfir Nuclear Power Plant




Evaluation, WASH-109 December, 1971




12.  See testimony of Dr. Chauncey R. Kepford, Joint Committee on




Atomic Energy, Hearings on Possible Modification and Extension of the




Price-Anderson Insurance and Indemnity Act, Jan.-March, 1974,  pp. 200-




253.




     Dr. Mills:  Thank you very much.

-------
                                                                       859
     I appreciate your patience in waiting around to be able to have




the opportunity to make your statement.




     Ms. Johnsrud:  I have learned a great deal.




     Dr. Mills:  I have one comment.  To perhaps clarify the function




of this particular hearing, I do not believe that we would be investi-




gating or able to investigate the Numec Corporation.




     Ms. Johnsrud:  I understand that, sir, certainly, although I




certainly would like for someone to let us know, really.




     Dr. Mills:  We appreciate the fact that you have stated so.




     Let me also say, from the EPA's standpoint, that the concern with




the public is on our mind.  We recognize the technical problem, but I




think if you were here at the first part to hear Dr. Rowe's opening




remarks, the concern with the public reaction is one reason we are




holding this hearing.




     Ms. Johnsrud:  Yes.  I think perhaps I might add, if I may, the




Atomic Energy Commission was developed during a period of American




industrial growth and development.  That certainly seems to be approach-




ing an end, at least in the manner in which it has been conducted for




much of the past half century.




     I think the Environmental Protection Agency represents the




direction that our society wants to go in the future.  Let me empha-




size, again, from the public point of view:  We would feel much more




comfortable if Dr. Radford and Dr. Tamplin were discussing the existence




or non-existence of the hot particle problem while we had the cushion




of a zero release, or better,  a zero production of plutonium.

-------
   860






     Maybe 30 years from now, your offspring can sit on such a committee




to decide that, yes, we know how to handle these materials and now is




the time to begin to go ahead.




     What I am saying is, of course, that essentially we are dealing




with a highly hazardous and immature technology.  Better to wait a




little.  I think that really represents a public point of view, when




they understand what the hazard may be for them and their children.




     Dr. Mills:  Are there any questions?




     Dr. Garner:  I would like to make a comment.




     It is a philosophical comment.  I do appreciate what you say about




what the public feels.  I personally do not think that we are resort-




ing to detail.  I try very hard to put the problem of plutonium in




perspective.  I just wish the public would try to do the same thing.




     I am not trying to downgrade plutonium.  We have heard enough about




it.  We point out we live with a great many other risks that the public




is willing to accept; for example, we push the use of natural gas and




liquefied gas to the hilt because it is non-polluting source, but if




we scour the newspapers of this country, we would find that almost every




day, a life is lost because of an accident involving natural gas and




liquefied gas.




     People do not seem to realize this, or if they do, they do not




seem to take account of it, that is what I want to say.




     Ms. Johnsrud:  If I may respond to that very briefly, I think




perhaps when the public looks at the major uses of plutonium which, on




the one hand, have recently been for nuclear weapons and on the other

-------
                                                                      861
hand, for power production and electricity production; we do have to




consider also just what the nature of the cost benefit analysis that




you will be engaging in, presumably, really is.




     What are these costs?  Who gets the benefits?  I would submit to




you that increasingly the American public is pretty unhappy with the




notion that the major benefits of massive quantities of plutonium will




accrue to the investors of utilities.




     Dr, Morgan:  Ms. Johnsrud, I would certainly commend you and I am




proud of the position you have taken in expressing your views.




     However, I feel it would be a wonderful world if we had given the




same consideration to other environmental insults as we have given from




the beginning to nuclear energy.




     If you feel a bit disillusioned by the discussions here, I think




it is because this is a rather new experience, to examine in detail




what effects something like plutonium in industry would have on this




and coming generations.




     This has never been done with respect to some of the other pollu-




tants that we consider.




     You suggest that the best solution would be to have no plutonium




released.  I suspect all of us agree to that, except we are realists




and we know, as you are yourself, we know that if you have nuclear




industry, you will have some release.  There will be some accidents.




     So then, your suggestion would be or was, we would have no pro-




duction of plutonium, and discontinue the industry.  Maybe if we could




back up 20 or 30 years, that might be done or might be considered.

-------
    862
     But even to give it consideration today, of course,  would mean




tremendous sacrifices and inconveniences and poverty far  greater,  I




believe, than the risks we even dream of in reference to  plutonium,




that we are talking about.




     The plutonium will not be an important problem indefinitely.   I




do not believe many of us feel that more than a few hundred years,




the use of plutonium will be an important contribution to our energy




needs.




     Ms. Johnsrud:  Quite so.  I think that our difficulty with the




comment that you have just made would lie, perhaps, in the cumulative




curve that was shown to us yesterday with respect to the  already exist-




ing accidental releases, plus the weapons program, and tthe ever-rising




nature of that curve within, again, the bounds of human time-scales.




     Then, of course, when we speak of plutonium let loose in the




environment, I look at it as a geographer.  I know the spatial distri-




bution, the possibility of tracing the various mechanisms that are




potentially available and subsequent damage to be done by the substance




that is produced now within our peculiar society, at this strange point




in human history, for a very short time and highly questionable uses.




     There are reams of reports now with respect to energy conservation




alternatives.  If we say, for example, we will pose a "no release"




standard, the fast breeder obviously is in trouble.  What does that do?




     That gives us, perhaps, the time period in the near-term future




while we do have available possible alternatives, to support adequately

-------
                                                                      863
the funding needed for the development of other alternatives.  It




solves our problem, or what it does is postpone the creation of the




problem that we do not now know enough about, nor how to contain, nor




how to control.




     So, we would hope there would be a time in the future when all the




research that AEG says will be done in the next 10 or 20 years has been




accomplished.  If they were right, and their research proves out correctly,




fine.  Then we can go ahead.




     But there are so many unresolved questions now that members of the




public who look to this source as essentially a prominent contaminant




are very unhappy about proceeding at this stage.




     I hope that comes clear.




     Dr. Mills:  Thank you very much.




     I suppose this brings us to a conclusion of this public hearing.




     Before I close, I want to express my thanks to all participants




for the long time that you put into these efforts, especially to the




reporter, and the people who have been kind to sit with us.




     Also, I would like to thank the panel members for volunteering to




be of some assistance to EPA in this effort.




     Thank you very much.




     (Whereupon, the hearing in the above-entitled matter was concluded




at 6:25 p.nu)




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