United States
         Environmental Protection
         Agency
Enforcement and
Compliance Assurance
(2201A)
EPA300-R-00-007B
November 2000
www.epa.gov
         Office of Environmental Justice (OEJ)
V-/EPA  Summary of the Meeting of the
         National Environmental Justice
         Advisory Council
              A FEDERAL ADVISORY COMMITTEE
                  Omni Hotel at CNN Center
                      Atlanta, Georgia
                  May 23 through 26, 2000

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This report and recommendations has been written as a part of the activities of the National
Environmental Justice Advisory Council (NEJAC), a public advisory committee providing extramural
policy information and advice to the Administrator and other officials of the Environmental Protection
Agency (EPA). The Council is structured to provide balanced, expert assessment of matters related
to the Environmental Justice program.  This report has not been reviewed for approval by the EPA
and, hence, the contents of this report and recommendations do not necessarily represent the views
and policies of the EPA, nor of other agencies in the Executive Branch of the federal government, nor
does mention of trade names or commercial products constitute a recommendation for use.

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                                           PREFACE
The National Environmental Justice Advisory Council (NEJAC) is a federal advisory committee that was
established by charter on September 30,1993, to provide independent advice, consultation, and
recommendations to the Administrator of the U.S. Environmental Protection Agency (EPA) on matters related
to environmental justice. The NEJAC is made up of 25 members, and one DFO, who serve on a parent council
that has six subcommittees.  Along with the NEJAC members who fill subcommittee posts, an additional 39
individuals serve on the various subcommittees. To date, NEJAC has held fourteen meetings in the following
locations:
           Washington, D.C., May 20, 1994
      •     Albuquerque, New Mexico, August 3 through 5, 1994
      •     Herndon, Virginia, October 25 through 27, 1994
      •     Atlanta, Georgia, January 17 and 18, 1995
      •     Arlington, Virginia, July 25 and 26, 1995
      •     Washington, D.C., December 12 through 14,1995
      •     Detroit, Michigan, May 29 through 31, 1996
      •     Baltimore, Maryland, December 10 through 12,1996
      •     Wabeno, Wisconsin, May 13 through 15,1997
      •     Durham, North Carolina, December 8 through 10,1997
      •     Arlington, Virginia, February 23 through 24,1998 (Special Business Meeting)
      •     Oakland, California, May 31 through June 2, 1998
      •     Baton Rouge, Louisiana, December 7 through 10,1998
      •     Arlington, Virginia, November 30 through December 2,1999
      •     Atlanta, Georgia, May 23 through 26, 2000
The NEJAC also has held other meetings which include:
      •     Public Dialogues on Urban Revitalization and Brownfields: Envisioning Healthy and Sustainable
           Communities held in Boston, Massachusetts; Philadelphia, Pennsylvania; Detroit, Michigan;
           Oakland, California; and Atlanta, Georgia in the Summer 1995
      •     Relocation Roundtable, Pensacola, Florida, May 2 through 4,1996
      •     Environmental Justice Enforcement and Compliance Assurance Roundtable, San Antonio, Texas,
           October 17 through 19, 1996
      •     Environmental Justice Enforcement Roundtable, Durham, North Carolina, December 11 through
           13,1997
      •     International Roundtable on Environmental Justice on the U.S./Mexico Border, San Diego,
          California, August 19 through 21,1999.
As a federal advisory committee, the NEJAC is bound by all requirements of the Federal Advisory Committee
Act (FACA) of October 6,1972. Those requirements include:
      •    Members must be selected and appointed by EPA
      •    Members must attend and participate fully in meetings of NEJAC
      •    Meetings must be open to the public, except as specified by the Administrator
      •    All meetings must be announced in the Federal Register

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     •    Public participation must be allowed at all public meetings

     •    The public must be provided access to materials distributed during the meeting

     •    Meeting minutes must be kept and made available to the public

     •    A designated federal official (DFO) must be present at all meetings of the NEJAC (and its
          subcommittees)

     •    NEJAC must provide independent judgment that is not influenced by special interest groups

Each subcommittee, formed to deal with a specific topic and to facilitate the conduct of the business of NEJAC,
has a DFO and is bound by the requirements of FACA. Subcommittees of the NEJAC meet independently of
the full NEJAC and present their findings to the NEJAC for review.  Subcommittees cannot make
recommendations independently to EPA. In addition to the six subcommittees, the NEJAC has established a
Protocol Committee, the members of which are the chair of NEJAC and the chairs of each subcommittee.

Members of the NEJAC are presented in the table on the following page. A list of the members of each of the
six subcommittees are presented in the appropriate chapters of the report.
                    NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                             MEMBERS OF THE EXECUTIVE COUNCIL
                                             (2000)
       Designated Federal Official:
       Mr. Charles Lee, Associate Director for Policy and
       Interagency Liason, EPA Office of Environmental
       Justice
                                            Members
       Mr. Don Aragon
       Ms. Rose Marie Augustine
       Mr. Luke Cole
       Mr. Fernando Cuevas, Sr.
       Mr. Arnoldd Garcia
       Dr. Michel Gelobter
       Mr. Tom Goldtooth
       Ms. Pat Hill Wood
       Ms. Jennifer Hill-Kelley
       Ms. Annabelle Jaramillo
       Ms. Meghan Magruder
       Ms. Vemice Miller-Travis
       Mr. Harold Mitchell
Chair:
Mr. Haywood Turrentine
Mr. David Moore
Dr. Carlos Padin
Dr. Marinelle Payton
Ms. Rosa Hilda Ramos
Ms. Peggy Shepard
Ms. Jane Stahl
Mr. Gerald Torres
Mr. Bob Vamey
Ms. Jana Walker
Mr. Damon Whitehead
Mr. Jess Womack
Mr. Tseming Yang
EPA's Office of Environmental Justice (OEJ) maintains transcripts, summary reports, and other material
distributed during the meetings. Those documents are available to the public upon request.

Comments or questions can be directed to OEJ through the Internet.  OEJ's Internet E-mail address is:

     environmentel-justice-epa@.epa.gov

Executive Summaries of the reports of the NEJAC meetings are available in English and Spanish on the
Internet at the NEJAC's World Wide Web home page:
     http-J/www.epa.gov/oeca/main/ej/nejacfindex.html> (click on the publications icon)

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                                   TABLE OF CONTENTS

Section

CHAPTER ONE SUMMARY OF THE EXECUTIVE COUNCIL
Page
1.0    INTRODUCTION	1-1

2.0    REMARKS	1-2

       2.1    Remarks of the Principal Deputy Assistant Administrator, U.S. Environmental
              Protection Agency Office of Enforcement and Compliance Assurance	1-3
       2.2    Remarks of the Regional Administrator, U.S. Environmental Protection Agency
              Region 4	1-3
       2.3    Remarks of the Director, U.S. Environmental Protection Agency Office of
              Environmental Justice	1-3
       2.4    Remarks of the Deputy Administrator, U.S. Environmental Protection Agency	1-5

3.0    PANELS ON ENVIRONMENTAL JUSTICE AND DISCUSSION OF THE
       COMMUNITY-BASED ENVIRONMENTAL HEALTH MODEL	1-10

       3.1    Panel 1 - Overview: To What Extent Might an Integrated Community-Based Public
              Health Model That Includes Assessment, Intervention, and Prevention Contribute to
              Disease Prevention and Health Improvement in Environmental Justice
              Communities? 	1-12
       3.2    Panel 2 - Lessons from the Field: What Strategies and Areas of Research Should
              Be Pursued to Achieve More Effective, Integrated Community-Based Health
              Assessment, Intervention, and Prevention Efforts?	1-14
       3.3    Panel 3 - Socioeconomic Vulnerability: How Can Consideration of Socioeconomic
              Status and Cultural Factors: (a) Contribute to a Better Understanding of Health
              Disparities and Cumulative and Disproportionate Environmental Effects and
              (b) Be Incorporated into Community Health Assessments?  	1-17
       3.4    Panel 4 - Key Federal Initiatives:  What Strategies Should Be Developed,
              Implemented, and Evaluated so as to Insure Substantial Participation, Integration,
              and Collaboration by Federal Agencies, in Partnership with Impacted Communities;
              Public Health, Medical, and Environmental Professionals; Academic Institutions;
              Philanthropic Organizations; State, Tribal, and Local Governments; and the
              Private Sector?	.		1-21

4.0    REPORTS AND PRESENTATIONS ..'	1-26

       4.1    Report on the Activities of the U.S. Environmental Protection Agency Office of
              General Counsel  	1-26
       4.2    Report on the Activities of the U.S. Environmental Protection Agency Office of
              Civil Rights	1-27
       4.3    Report on the Activities of the U.S. Environmental Protection Agency Office of
              International Activities 	1-30
       4.4    Presentation on the Creation of the  Puerto Rico Subcommittee of the National
              Environmental Justice Advisory Council  	1-32
       4.5    Presentation on Executive Order 13125  	1-33

5.0    REPORTS OF THE SUBCOMMITTEES  	1-34

       5.1    Air and Water Subcommittee	1 -34
       5.2    Enforcement Subcommittee	1-35
       5.3    Health and Research Subcommittee	1-36
       5.4    Indigenous Peoples Subcommittee	1-36
       5.5    International Subcommittee	1-37
       5.6    Waste and Facility Siting Subcommittee	1-37

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Section

6.0    FOLLOW-UP ON ISSUES RELATED TO ENVIRONMENTAL JUSTICE AND THE
      ISSUANCE OF PERMITS	1-38

7.0    CLOSING REMARKS	1-38

8.0    SUMMARY OF APPROVED RESOLUTIONS AND LETTERS FORWARDED TO THE
      U.S. ENVIRONMENTAL PROTECTION AGENCY ADMINISTRATOR	1-39

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 Section

 CHAPTER TWO SUMMARY OF THE PUBLIC COMMENT PERIODS
                                                                                 Page
 1.0
INTRODUCTION		2-1
 2.0    GENERAL PUBLIC COMMENT PERIOD HELD ON MAY 23, 2000 	2-1

        2.1     Elizabeth Crowe, Chemical Weapons Working Group, Berea, Kentucky	2-1
        2.2     James Friloux, Louisiana Department of Environmental Quality, Baton Rouge,
               Louisiana  	2-2
        2.3     Farella Esta Robinson, United States Commission on Civil Rights, Kansas City,
               Kansas  	 2-2
        2.4     Jerome Baiter, Public Interest Law Center of Philadelphia, Philadelphia,	
               Pennsylvania	2-3
        2.5     Doris Bradshaw, Defense Depot Memphis, Tennessee, Concerned Citizens
               Committee, Memphis, Tennessee	2-3
        2.6     MaVynee Oshun Betsch, A.L. Lewis Historical Society, American Beach, Florida  ... .2-4
        2.7     Sarah Craven, Sierra Club, Atlanta, Georgia	2-4
        2.8     Jeannie Economos, Farm Worker Association of Florida, Apopka, Florida	2-4
        2.9     Chavel Lopez, Southwest Public Workers Union, San Antonio, Texas	2-5
        2.10    Marvin Grafter, Wollfolk Citizens Response Group, Fort Valley, Georgia	2-6
        2.11    Earnest Marshall, Ombudsman Development Foundation Inc, Atlanta, Georgia 	2-6
        2.12    Henry Rodriguez, Native American Environmental Protection Coalition, Valley
               Center, California	2-6
        2.13    Elodia Blanco, Concerned Citizens of Agriculture Street Landfill, New Orleans,	
               Louisiana  	2-6
        2.14    Jerilyn Lopez Mendoza, Environmental Defense, Los Angeles, California 	2-7
        2.15    Donald Brown, People for Environmental Progress and Sustainability, Vallejo,
               California  	2-7
        2.16    Bill Burns, Environmental Awareness Foundation, Atlanta, Georgia	2-7
        2.17    Samara Swanston, Sierra Club, Brooklyn, New York 	2-8
        2.18    Michelle Xenos, Shundahai Network, Las Vegas, Nevada  	2-8
        2.19    Jay Gilbert Sanchez, Tribal Environmental Watch Alliance, Espanola, New Mexico ... 2-9
        2.20    Teresa Juarez, New Mexico Alliance, Chimayo, New Mexico	2-9
        2.21     Mark Mitchell, Connecticut Coalition for Environmental Justice, Hartford,
               Connecticut 	2-9
        2.22    Le Vonne Stone, Fort Ord Environmental Justice Network, Marina, California	2-10
        2.23    Rabbi Dan Swartz, Children's Environmental Health Network, Washington, D.C. ... 2-10
        2.24    Jim MacDonald, Pittsburg Unified School District, Pittsburg, California	2-11
        2.25    Jackie Ward, Southern Organizing Committee for Economic and Social Justice,
               Brunswick, Georgia  	2-11
        2.26    Fred Lincoln, Wando Concerned Citizen Committee, Wando, South Carolina	2-11
        2.27    Adora Iris Lee, United Church of Christ Commission for Racial Justice,
               Washington, D.C	2-11
        2.28    Maria Elena Lucas, Farm Worker, Arlington, Texas  	2-11

3.0     FOCUSED PUBLIC COMMENT PERIOD HELD ON MAY 24, 2000	2-12

       3.1      Mable Anderson, Village Creek Human and Environmental Society, Birmingham,
              Alabama  	2-12
       3.2      Karl Fuller, Pechanga Environmental Program, Temecula, California	2-12
       3.3     Cecil Corbin-Mark, West Harlem Environmental Action, New York, New York	2-13
       3.4     Michael Lythcott, The Lythcott Company, Marlboro, New Jersey  	2-13
       3.5     Lionel Dyson, Public Interest Law Center of Philadelphia, Philadelphia,
              Pennsylvania	2-13
       3.6     Daisy Carter, Project Awake, Coatopa, Alabama	2-14
       3.7     Gary Grant, Concerned Citizens of Tillery, Tillery, North Carolina	2-14
       3.8     Omar Freilla, New York City Environmental Justice Alliance, New York, New York  .. 2-15
       3.9     Mildred McClain, Citizens for Environmental Justice, Savannah, Georgia  	2-15
                                             in

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Section
       3.10    Beverly Wright, Wampanoag Tribe of Gay Head, Aquinnah, Massachusetts	2-16
       3.11    Grace Hewell, Health Policy Group, Chattanooga, Tennessee	2-16
       3.12    Sandra Jaribu Hill, Center for Constitutional Rights, Greenville, Mississippi	2-17
       3.13    James Hill, Scarboro Community Environmental Justice Network, Oak Ridge,
               Tennessee	2-18
       3.14    Mildred Colen, Private Citizen, Warren, Arkansas	2-18
       3.15    Caitlin Waddick, City Planning Program, Georgia Institute of Technology,
               Atlanta, Georgia	2-18
       3.16    Pat Hartman, Concerned Citizens of Mossville, Westlake, Louisiana	2-19
       3.17    Pat Costner, GreenPeace International, Eureka Springs, Arkansas	2-19
       3.18    Charlotte Keys, Jesus People Against Pollution, Columbia, Mississippi	2-19
       3.19    Ian Zabarte, Western Shoshone National Council, Indian Springs, Nevada	2-20
       3.20    Michelle Xenos, Shundahai Network, Las Vegas, Nevada  	2-20
       3.21    David Baker, Community Against Pollution, Anniston, Alabama	2-20
       3.22    Natalie Leverette, PEACE, Richton, Mississippi  	2-21
       3.23    Nan Freeland, Natural Resources Leadership Institute, Raleigh, North Carolina  .... 2-21
       3.24    Connie Tucker, Southern Organizing Committee for Economic and Social Justice,
               Atlanta, Georgia	2-21
       3.25    Edgar Moss, Mclntosh Environmental Justice Taskforce, Inc., Atlanta, Georgia  	2-22
       3.26    Usha Little, Native American Environmental Protection Coalition, Valley Center,
               California 	2-22
       3.27    Hazel Johnson, People for Community Recovery, Chicago, Illinois	2-22
       3.28    Mark Mitchell, Connecticut Coalition for Environmental Justice, Hartford,
               Connecticut  	2-22
       3.29    MaVynee Oshun Betsch, A.L. Lewis Historical Society, American Beach, Florida  ... 2-23
       3.30    Damu Imara Smith, GreenPeace, International, Washington, D.C	2-23
       3.31    Elizabeth Crowe, Chemical Weapons Working Group, Berea, Kentucky	2-23
       3.32    Jim MacDonald, Pittsburg (California) Unified School District, Pittsburg, California .. 2-24
       3.33    Donnel Wilkins, Detroiters Working for Environmental Justice, Detroit, Michigan	2-24
                                               IV

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 Section

 CHAPTER THREE SUMMARY OF THE AIR AND WATER SUBCOMMITTEE

 1.0    INTRODUCTION	3-1

 2.0    REMARKS	3-1

 3.0    REVIEW OF THE DECEMBER 1999 MEETING SUMMARY	3-2

 4.0    PRESENTATIONS AND REPORTS	3-2

       4.1    Public Utilities	3-2

              4.1.1   Coal-Fired Power Plants in Georgia	3-2
              4.1.2   Regulation of Mercury Emissions from Coal-Fired Power Plants	3-4
              4.1.3   Power Plants in Puerto Rico	3-5

       4.2    Concentrated Animal Feeding Operations	3-6

              4.2.1   U.S. Environmental Protection Agency and the U.S. Department of
                     Agriculture Regulation of Concentrated Animal Feeding Operations	3-6
              4.2.2   Joint Resolution on Concentrated Animal Feeding Operations  	3-7

       4.3    Guidance for Reducing Toxic Loadings	3-8
       4.4    Fish Contamination  	3-11
       4.5    Urban Air Initiatives  	3-12

              4.5.1   U.S. Environmental Protection Agency Diesel Retrofit Program	3-12
              4.5.2   U.S. Environmental Protection Agency Tier 2 Strategy	3-13
              4.5.3   Environmental Justice Concerns in Southern California Related to
                     Air Pollution	3-14
              4.5.4   Partnership for Clean Air Communities	3-14
              4.5.5   U.S. Environmental Protection Agency Urban Air Toxics Strategy	3-15

5.0    RESOLUTION AND SIGNIFICANT ACTION ITEMS	3-16

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Section

CHAPTER FOUR MEETING OF THE ENFORCEMENT SUBCOMMITTEE

1.0    INTRODUCTION	4-1

2.0    REMARKS	4-1

       2.1    Remarks of the Chair of the Enforcement Subcommittee	4-1
       2.2    Remarks of the Principal Deputy Assistant Administrator of the U.S. Environmental
              Protection Agency Office of Enforcement and Compliance Assurance	4-1

3.0    STRATEGIC PLANNING PROCESS OF THE ENFORCEMENT SUBCOMMITTEE  	4-3

4.0    PRESENTATIONS AND REPORTS	4-5

       4.1    Health Theme Discussion: What Health Data and Indicators Should the U.S.
              Environmental Protection Agency be Using to Target its Enforcement Efforts and
              Resources? 	4-5

              4.1.1   Presentation on the U.S. Environmental Protection Agency's Enforcement
                     and Compliance Targeting Activities	4-5
              4.1.2   Presentation on Indicator Technology:  Utility for Identifying High Risk
                     Communities	— 4-6
              4.1.3   Presentation on Environmental Enforcement and Public Health  	4-7
              4.1.4   Presentation on the Richmond County Health Department Health
                     Intervention Project	4-8

       4.2    Presentation on Concentrated Animal Feeding Operations	4-8
       4.3    Update on the U.S. Environmental Protection Agency Guidance Related to Title VI
              of the Civil Rights Act of 1964 and Health Effects Associated with Lack of
              Enforcement of Title VI	4-10
5.0
RESOLUTIONS AND SIGNIFICANT ACTION ITEMS	4-12
                                           VI

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Section

CHAPTER FIVE MEETING OF THE HEALTH AND RESEARCH SUBCOMMITTEE

       INTRODUCTION	5_1
1.0

2.0

3.0
4.0

5.0
REMARKS	5--I

ACTIVITIES OF THE SUBCOMMITTEE 	5-1

3.1    Report of the Working Group on Community Environmental Health Assessment on
      the Decision Tree Framework for Community-Directed Environmental Health
      Assessment	5-2
3.2    Discussion of Federal Facilities	 5.3

INTERAGENCY FORUM ON PARTNERSHIPS IN PUBLIC HEALTH	5-3

RESOLUTIONS AND SIGNIFICANT ACTION ITEMS	5-6
                                       VII

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Section

CHAPTER SIX MEETING OF THE INDIGENOUS PEOPLES SUBCOMMITTEE
Page
1.0    INTRODUCTION	6-1

2.0    REMARKS	6-1

3.0    DISCUSSIONS OF THE SUBCOMMITTEE RELATED TO ENVIRONMENTAL HEALTH .... 6-1

       3.1    Presentations Environmental Health and Research in Indian Country 	6-2
       3.2    Presentation on Persistent Organic Pollutants and Persistent Bioaccumulative
             Toxins	6-4

4.0    PRESENTATIONS AND REPORTS	6-5

       4.1    Summary of the Videotape The Forgotten America - Alaska's Rural Sanitation
             Problem"	6-5
       4.2    Presentation on the Proposed Gregory Canyon Landfill  	6-6
       4.3    Public Utility Activities of the U.S. Environmental Protection Agency Region 10 in
             Rural Alaskan Villages	6-6
       4.4    Nuclear Risk Management Native Program - Radiation Exposure of Shoshone
             People 	6-6
       4.5    Effects of Navy Bombing Range on the Wampanoag Tribe, Nomans Island,
             Massachusetts	6-7

5.0    RECOMMENDATIONS ON ENVIRONMENTAL RESEARCH NEEDS IN INDIAN
       COUNTRY	6-8

6.0    RESOLUTION AND SIGNIFICANT ACTION ITEMS	6-9
                                          VIII

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 Section

 CHAPTER SEVEN MEETING OF THE INTERNATIONAL SUBCOMMITTEE

 1.0    INTRODUCTION	7^

 2.0    REMARKS	'.	7.-,

 3.0    ACTIVITIES OFTHE SUBCOMMITTEE  	7_1

       3.1    Updates on the Roundtable on Environmental Justice on the U.S.-Mexico Border	7-1
       3.2    Update on the South Africa Work Group	7-2

 4.0    PRESENTATIONS AND REPORTS	7-2

       4.1    Presentations on Public Health and Exposure to Pesticides	7-3

              4.1.1   Improving the Health of Farm Workers: First Hand Accounts of Life as a
                     Migrant Farm Worker	7.3
              4.1.2   Barrio Logan Successful in Closing Methyl Bromide Facility 	7-4
              4.1.3   Lake Apopka and Farm Worker Health  	7.5
              4.1.4   Initiatives of the U.S. Environmental Protection Agency Office of Prevention,
                     Pesticides, and Toxic Substances  	7-6
              4.1.5   Presentation on Worker Protection Standard, Compliance and Enforcement
                     Study	7.7

       4.2    Update on Activities of the U.S. Environmental Protection Agency San Diego Border
              Liaison Office	7,7
       4.3    Update on the Activities of the U.S. Environmental Protection Agency Office of
              International Activities  	7.3

5.0    DIALOGUE WITH THE SOUTH AFRICAN DELEGATION  	7-10

6.0    SIGNIFICANT ACTION ITEMS	7-12
                                            IX

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Section
CHAPTER EIGHT MEETING OF THE WASTE AND FACILITY SITING SUBCOMMITTEE

1.0    INTRODUCTION	,	8-1

2.0    REMARKS	8-1

3.0    UPDATE ON WORK GROUPS OF THE SUBCOMMITTEE 	8-2

       3.1     Waste Transfer Stations Work Group	8-2
       3.2    Brownfields Work Group  	8-3
       3.3    Superfund Redevelopment Initiative Work Group	8-4

4.0    PRESENTATIONS AND REPORTS	8-5

       4.1     Presentation on International City/County Management Association Activities	8-5
       4.2    Presentation on New Bethel Life, Inc. Activities	8-5
       4.3    Update on the U.S. Environmental Protection Agency Brownfields Job Training and
              Development Demonstration Pilot Program	8-5
       4.4    Update on U.S.  Environmental Protection Agency Social Siting Booklet	8-6
       4.5    Discussion of Socioeconomic Vulnerability 	8-6
       4.6    Update on U.S.  Environmental Protection Agency Superfund Redevelopment
              Initiative  	8-7
       4.7    Status Report on the Relocation  Policy and Forum	8-8
       4.8    Presentation by the U.S. Department of Transportation on the Uniform
              Relocation Act	8-8
       4.9    Guidance for Reducing Toxics Loadings	8-8

5.0    SUMMARY OF PUBLIC DIALOGUE  	8-10

       5.1     The Tri-State Environmental Council, Save Our Community (SOC), Inc	8-10
       5.2    The Alabama African-American Environmental Justice Action Network and
              the Southern Organizing Committee for Economic and Social Justice	8-11
       5.3    Cleanup  Standards on Nomans Island, Massachusetts 	8-11
6.0
SIGNIFICANT ACTION ITEMS	8-12

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Section                                                                             Page

CHAPTER NINE SUMMARY OF THE JOINT SESSION OF THE HEALTH AND RESEARCH
AND THE WASTE AND FACILITY SITING SUBCOMMITTEES

1.0    INTRODUCTION	9-1

2.0    REMARKS	9-1

3.0    PRESENTATIONS 	9-2

       3.1     Review of Findings Presented in the Exposure Investigation: Calcasieu Estuary
              (Mossville), Louisiana	9-2
       3.2     Report on the Activities of the U.S. Environmental Protection Agency Region 6 in
              the Calcasieu Estuary	9-5
       3.3     Report on the Exposure Investigation: Calcasieu Estuary (Mossville), Louisiana	9-5
       3.4     Report from the Louisiana Department of Health and Hospitals 	9-7
       3.5     Communication from the Louisiana Department of Environmental Quality	9-8
       3.6     Report from the Louisiana Chemical Association 	.9-8
       3.7     Additional Comments of Representatives of GreenPeace, Mossville Environmental
              Action Now, and the Calcasieu League for Environmental Action Now	9-9

4.0    QUESTION AND ANSWER PERIOD	9-9
                                           XI

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                                     EXECUTIVE SUMMARY
                                        INTRODUCTION
 This executive summary provides highlights of the fifteenth
 meeting of the  National Environmental Justice Advisory
 Council (NEJAC), held May 23 through 26,2000 at the Omni
 Hotel at CNN Center in Atlanta, Georgia.  Each of the six
 subcommittees met for a full day on May 25, 2000.   In
 addition,  on  May  23,  2000, members of  the NEJAC
 participated in a fact-finding tour of several communities in
 Anniston, Alabama to learn about environmental issues and
 concerns of importance to those communities.  The NEJAC
 hosted on May 23  a public comment period for general
 environmental justice issues.  The  NEJAC also hosted on
 May 24 a second public comment period which focused on
 community environmental health and environmental justice
 issues. Approximately 536 persons attended the meetings
 and the public comment periods.

 The NEJAC is a Federal  advisory committee that was
 established by charter on September 30, 1993 to provide
 independent advice, consultation, and recommendations to
 the  Administrator of the  U.S. Environmental Protection
 Agency (EPA) on matters related to environmental justice.
 Mr. HaywoodTurrentine, Laborers' District Council Education
 and Training  Trust Fund (an affiliate  of the Laborers'
 International Union of North America), serves as the chair of
 the  Executive Council.  Ms.  Peggy  Shepard, Executive
 Director,  West 'Harlem Environmental  Action Inc. and
 member of the Health and Research Subcommittee, serves
 as the newly appointed vice-chair of the Executive Council of
 the NEJAC. Mr. Charles Lee, Associate Director for Policy
 and Interagency Liaison, EPA Office of Environmental Justice
 (OEJ), serves as the Designated Federal Official (DFO) for
 the Executive Council. Exhibit ES-1  lists the chair and DFO
 of the executive council, as well as the persons who chair the
 six  subcommittees of the NEJAC and the EPA staff
 appointed to serve as the DFOs for the subcommittees.

 OEJ maintains transcripts and summary reports of  the
 proceedings of the NEJAC meetings. Those documents.are
 available to the public upon request. The public also has
 access to the executive summaries of  reports  of previous
 meetings, as  well as other publications, of  the  NEJAC
 through the World Wide Web at  (click on  the publications icon).
 The summaries are available in both English- and Spanish-
 language versions.
                            Exhibit ES-1
    NATIONAL ENVIRONMENTAL
    JUSTICE ADVISORY COUNCIL
      CHAIRS AND DESIGNATED
        FEDERAL OFFICIALS

 Executive Council:
   Mr. Hay wood Turrentine, Chair
   Ms. Peggy Shepard, Vice-Chair
   Mr. Charles Lee, Designated Federal
                Official (DFO)

 Air and Water Subcommittee:
   Dr. Michel Gelobter, Chair
   Ms. Annabelle Jaramillo, Vice-Chair
   Ms. Alice Walker, co-DFO
   Dr. Wil Wilson, co-DFO

 Enforcement Subcommittee:
   Mr. Luke Cole, Chair
   Ms. Savonala Home, Vice-Chair
   Ms. Shirley Pate, DFO
   Mr. Robert Banks, Alternate DFO

 Health and Research Subcommittee:
   Dr. Marinelle Payton, Chair
   Ms. Rose Marie Augustine, Vice-Chair
   Mr. Lawrence Martin, co-DFO
   Mr. Chen Wen, co-DFO

 Indigenous Peoples Subcommittee:
  Mr. Tom Goldtooth, Chair
  Ms. Jennifer Hill-Kelley, Vice-Chair
  Mr. Daniel Gogal, DFO
  Mr. Robert Smith, Alternate DFO

 International Subcommittee:
  Mr. Arnoldo Garcia, Chair
  Mr. Alberto Saldamando, Vice-Chair
  Ms. Wendy Graham, DFO

Waste and Facility Siting Subcommittee:
  Ms. Vernice Miller-Travis, Chair
  Ms. Veronica Eady, Vice-Chair
Atlanta, Georgia, May 23 through 26,2000
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                                                      National Environmental Justice Advisory Council
                                          REMARKS

Ms. Sylvia Lowrance, Principal Deputy Assistant Administrator, EPA Office of Enforcement and Compliance
Assurance (OECA), noted that the meeting marked a "tremendously important milestone" in the progress of
the NEJAC and its work with EPA.  To address public health problems in communities, Ms. Lowrance
explained, it is essential to have better science with regard to those health and environmental problems that
face communities. She noted that there has been a void in addressing such issues and that the missing link
has been health research. She then expressed her excitement about the program that the NEJAC would be
focusing on during the meeting and made a commitment that EPA would follow-up on the work accomplished
by the NEJAC during the meeting.

Mr. John Hankinson, Deputy Regional Administrator, EPA Region 4, reported that in 1996, EPA Region 4 had
been reorganized dramatically to better serve communities that have environmental justice concerns. Mr.
Hankinson stressed that the reorganization had been designed not only to serve such communities better,
but also to improve the manner by which the region conducts its daily activities related to environmental
justice.  In other words, he clarified, the  reorganization is structured to ensure that concerns related to
environmental justice become integrated into all  activities and across all media programs.  He expressed
agreement with Ms. Lowrance that it is extremely important to have the best science possible upon which to
base judgements related to the environmental health of acommunity. Concluding his remarks, Mr. Hankinson
stressed the  necessity that EPA work with other agencies and other programs that not only focus on
environmental issues, but also deal with all issues that must be addressed if communities are to be healthy.

Mr. Barry Hill, Director, EPA OEJ, began his presentation by welcoming all participants to the meeting of the
NEJAC on public health, noting that it was appropriate that the meeting be held in Atlanta, Georgia, the home
of the U.S. Department of Health and Human Services' (HHS) Centers for Disease Control and Prevention
(CDCP) and the Agency for Toxic Substances and  Disease Registry (ATSDR).  Mr. Hill then placed the
meeting in perspective by reminding the participants that the mission of EPA is to protect human health and
to safeguard the natural environment — the air, water, and land upon which all life depends.  Therefore, he
declared, the issue of protecting the public health is of great importance to the Agency. Mr. Hill commented
that, while the Agency has made great strides in safeguarding the natural environment, EPA has not been as
successful in protecting human health. That is why, he explained, the EPA Administrator, through OEJ, had
requested that the NEJAC focus a meeting on the issue of public health. The Agency, he emphasized, is
seeking the advice and recommendations of the NEJAC, a multi-stakeholder advisory committee, on how
better to address issues related to public health.

Continuing, Mr. Hill explained that the underlying question the panelists and the members  of the NEJAC
should address is whetherthere is a direct correlation between impacts on the environment and public health.
Many people  would agree that a direct correlation exists, he noted; adding however, that when asked to
demonstrate the connection, communities, scientists, and public health officials are unable to do so because
the science does not yet exist. Mr. Hill then provided a list of questions related to demonstrating the direct
correlation between the environment and public health that were to be posed over the course of the meeting:

•   If not now, when will sound science be available?

•   Are [government agencies] making great strides in that direction?

•   How far do [government agencies] have to go to satisfy not only the scientists and public health officials,
    but also the concerned public?

•   What must Federal, state, and local government agencies do to focus their attention and considerable
    resources on demonstrating the direct correlation?

•   How can communities become more involved in demonstrating the direct correlation by developing and
    using community-based health research models?

•   How can  industry be of assistance in  using its considerable resources to participate in the dialogue of
    demonstrating the direct correlation?
ES-2
Atlanta, Georgia, May 23 through 26,2000

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Executive Summary
 Mr. Michael McCabe, Deputy Administrator of EPA, expressed his appreciation to Mr. Turrentine for his
 leadership of the NEJAC and to the members of the Executive Council for the time and effort they spend on
 important issues related to environmental justice. Mr. McCabe then noted that the NEJAC had been providing
 crucial and important advice to the EPA Administrator for the past seven years and has had a direct effect on
 many of the Agency's initiatives, such as its Brownfields Economic Redevelopment Initiative. Mr. McCabe
 stated that he now would request that the NEJAC provide help and guidance related to  the role of risk
 assessments and the cumulative effects of environmental contamination  on communities.

 Continuing, Mr. McCabe updated the members of the Executive Council on several activities at EPA related
 to environmental justice. He announced that EPA's Office of Civil Rights (OCR) soon was to release two new
 draft guidance documents to clarify for government agencies and the public the compliance requirements set
 forth under Title VI of the Civil Rights Act of 1964 (Title VI). He then announced the Integrated Federal
 Interagency Environmental Justice  Action  Agenda  developed by the Interagency Work Group on
 Environmental Justice. Mr. McCabe explained that the goal of the action agenda is to bring together the
 resources of 11 of the 17 Federal agencies called upon in Executive Order 12898 on Environmental Justice
 to help environmentally and economically distressed communities.

 Continuing his remarks, Mr. McCabe explained that, under the leadership of the EPA Administrator, the
 Agency had been and would continue to be guided by the vision of a new partnership - economic prosperity
 and protection. Mr. McCabe expressed the Agency's belief that economic expansion and environmental
 protection are  goals that must fbe achieved together.  Experience, he noted, has demonstrated that an
 investment in the environment is an investment in job creation and in raising healthy children. Over the past
 seven years, he emphasized, EPA has been guided by the belief that principles of environmental justice must
 be rooted in the understanding that all people share the planet and all share the future; therefore, all must
 share the responsibility of environmental protection.

                 PANELS ON ENVIRONMENTAL JUSTICE AND DISCUSSION OF
                  THE COMMUNITY-BASED ENVIRONMENTAL HEALTH MODEL

 In  its continuing effort to  provide independent advice to the EPA Administrator in areas related to
 environmental justice, the NEJAC focused its fifteenth  meeting on a specific policy issue — environmental
 justice and its relationship to community-based environmental health research.  On Wednesday, May 24,
 2000, the  members of the NEJAC received a  series  of presentations from  panels  comprised of
 representatives of various stakeholder groups. The presentations were designed to provide insight into the
 issues raised and concerns expressed about the relationship of environmental justice and public health.
 Exhibit ES-2 identifies the individuals who participated in the panel discussions.

 Mr. Lee began the panel presentations by introducing members of EPA's Science Advisory Board (SAB) and
 Children's Health Protection Advisory Committee (CHPAC), who had been invited to participate in the meeting
 of the NEJAC. Members representing the SAB were Mr. Henry Anderson, Wisconsin Division of Public Health
 and Mr.  Hilary Inyang, Center for Environmental  Engineering Science and Technology, University of
 Massachusetts, Lowell.  Members representing CHPAC were Ms. Willa Fisher, Bremerton-Kitsap County,
 Washington State Health District and Rabbi Dan Swartz, Children's Environmental Health Network.

The panel presentations included:

 *•   Panel 1: Overview: To what extent might an  integrated community-based public health model that
    includes assessment, intervention, and prevention  contribute  to  disease prevention and health
    improvement in environmental justice communities?—This panel provided a historical overview of health
    issues found in communities that have environmental justice concerns and how a holistic integrated view
    of disease prevention and health improvement has evolved.
Atlanta, Georgia, May 23 through 26,2000
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Executive Summary
                            National Environmental Justice Advisory Council
                                                                                           Exhibit ES-2
                     PANEL PRESENTATIONS ON ENVIRONMENTAL JUSTICE
      AND DISCUSSION OF THE COMMUNITY-BASED ENVIRONMENTAL HEALTH MODEL

  The fifteenth meeting of the National Environmental Justice Advisory Council focused on Federal efforts to
  secure disease prevention and health improvement in communities in which there are health disparities that may
  be the result of, or be exacerbated by, disproportionate effects of environmental pollutants and certain
  socioeconomic and cultural factors. During the meeting, the members of the National Environmental Justice
  Advisory Committee (NEJAC) received comments and information related to environmental justice and public
  health from the individuals identified below.

  Panel 1 - Overview
          To what extent might an integrated community-based public health model that includes assessment,
          intervention, and prevention contribute to disease prevention and health improvement in
          environmental justice communities?

          Robert Bullard, Ph.D.   Environmental Justice Resource Center, Clark Atlanta University, Atlanta,
                               Georgia
          Richard Moore         Southwest Network for Environmental and Economic Justice, Albuquerque, New
                               Mexico
          Patrick Kinney, Ph.D.   Columbia University School of Public Health, New York, New York

  Panel 2 — Lessons from the Field
          What strategies and areas of research should be pursued to achieve more effective, integrated
          community-based health assessment,  intervention, and prevention efforts?

          Ray Campion          Mickey Leland National Urban Air Toxics Research Center, Houston, Texas
          David Carpenter, M.D.   University of Albany School of Public Health, Rensselaer, New York
          Katsi  Cook            Akwesasne Mohawk Nation, Berkshire, New York
          Carlos Porras          Communities for a Better Environment, Huntington Park, California

  Panel 3 — Socioeconomic Vulnerability
          How can consideration of socioeconomic status and cultural factors (a) contribute to a better
          understanding of health disparities and cumulative and disproportionate environmental effects; and
          (b) be incorporated into community health assessments?

          Michael Callahan       U.S. Environmental Protection Agency (EPA), Cumulative Risk Technical
                               Review Panel, Washington, D.C.
          Walter Handy, Ph.D     Cincinnati Health Department, Cincinnati, Ohio
          Samara Swanston, J.D.   Greenpoint-Williamsburg Watch Project, Brooklyn, New York

  Panel 4—Key Federal Initiatives
          Wliat strategies should be developed, implemented, and evaluated so as to insure substantial
         participation, integration, and collaboration by Federal agencies, in partnership with impacted
          communities; public health, medical and environmental professionals; academic institutions;
         philanthropic organizations; state, tribal, and local governments; and the private sector?
         Henry Falk,M.D.
         Jon Kemer, Ph.D.
         Michael Rathsam
         Michael Sage
         Charles Wells
         Harold Zenick
Agency for Toxic Substances and Disease Registry, Atlanta, Georgia
National Cancer Institute, Rockville, Maryland
.Indian Health Services, Manlius, New York
National Center for Environmental Health, Atlanta, Georgia
National Institute of Environmental Health Sciences, Atlanta, Georgia
EPA Office of Research and Development, Research Triangle Park, North
Carolina
ES-4
                                   Atlanta, Georgia, May 23 through 26,2000

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 National Environmental Justice Advisory Council
                                                                               Executive Summary
 >   Panel 2:  Lessons from the field: what strategies and areas of research should be pursued to achieve
     more effective, integrated community-based health assessment, intervention, and prevention efforts?—
     This panel of community-based practitioners presented recommendations based on their experience of
     the  strategies and targeted research that would most effectively advance at this time an integrated
     community-based health assessment, intervention, and prevention model.

 *•   Panel 3:  Socioeconomic vulnerability:  how can consideration of socioeconomic status and cultural
     factors: (a) contribute to a better understanding of health disparities and cumulative and disproportionate
     environmental effects; and (b) be incorporated into community health assessments?— Members of the
     panel explored the extent to which socioeconomic vulnerabilities might be incorporated into community
     health assessments for populations alreadysuffering health disparities.  In addition, members of the panel
     offered  recommendations about  research  priorities  for the  development  of  policy in areas of
     socioeconomic vulnerability, cumulative risk, and disproportionate environmental effects.

 >   Panel 4: Key Federal initiatives: what strategies should be developed, implemented, and evaluated so
     as to insure substantial participation, integration and collaboration by Federal agencies, in partnership with
     impacted communities; public health, medical and environmental professionals; academic institutions;
     philanthropic organizations; state, tribal and local governments; and the private sector?— Senior officials
     from EPA and other Federal public health agencies offered perspectives and provided overviews of their
     respective agencies' efforts to address environmental justice and community-based public health needs.

                                       PRESENTATIONS

 The Executive Council also heard presentations by the following individuals:

 >•    Ms. Ann Goode, Director, EPA OCR, updated the members of the Executive Council on the status of the
     Title VI Interim Guidance  for Investigating Administrative Complaints Which Challenge Permitting
     Decisions (interim guidance).  She announced that EPA soon would publish in the Federal Register two
     new draft guidance documents related to Title VI for public comment review.

 >•    Mr. Alan Hecht, Principal Deputy Assistant Administrator, EPA Office  of International Activities (OIA),
    offered a brief overview of issues related to the U.S.-Mexico border to be addressed in the next year.  He
    also  provided an update on activities related to addressing recommendations from the Roundtable on
    Environmental Justice on the U.S./Mexico Border held in National City, California in August 1999.

 >•   Mr. William Muszynski, Deputy Regional Administrator, EPA Region 2, provided an update on the efforts
    of EPA Region 2 to improve and protect the environment in Puerto Rico. Mr. Muszynski announced that
    the creation of a new NEJAC subcommittee on Puerto Rico had been approved by the EPA Administrator.

 >   Ms. Maria Hendriksson, Special Assistant to the Director of the Office of Human Resources, EPA Office
    of Administration and Resources Management (OARM) reported on Executive Order 13125 on Asian
    Americans and Pacific Islanders and the White House initiative on those populations. She explained that
    the order had been issued  in an effort to improve the quality of life of Asian Americans and Pacific
    Islanders in this country through increased participation in Federal programs.

     OTHER ACTIVITIES OF THE NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL

On May 23,  2000, members  of the NEJAC participated in  a fact-finding tour of several communities in
Anniston, Alabama.  Such fact-finding tours provide members  of the  NEJAC information about the
environmental concerns of local communities in the areas in which meetings of the NEJAC are held. In
Anniston, the fact-finding tour focused on community health issues associated with contamination of soil with
polychlorinated biphenyls (PCB) caused by local industry.

On May 25,2000, the members of the Health and Research and Waste and Facility Siting subcommittees of
the NEJAC participated in a joint session to discuss the investigation conducted by ATSDR in November 1999
Atlanta, Georgia, May 23 through 26,2000
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Executive Summary
                                                      National Environmental Justice Advisory Council
of exposure to hazardous pollutants in Mossville, Calcasieu Parish, Louisiana. The Air and Water and Waste
and Facility Siting subcommittees also held a joint session on May 25,2000, to discuss EPA's draft guidance
on toxic loadings reduction.

In the weeks before the May 2000 meeting of the NEJAC, EPA hosted delegates representing the South
African environmental justice community to an intensive program conducted in the southeastern United
States. The delegates from South Africa also participated in the meeting of the International Subcommittee
of the NEJAC held on May 25, 2000.

                                 PUBLIC COMMENT PERIODS

The NEJAC hosted public comment periods on May 23 and 24, 2000.  More than 60 people participated in
the two public comment periods. Significant concerns expressed during the public comment periods included:

*   Many commenters continued to request that the NEJAC establish a work group to address environmental
   justice issues faced by communities located near Federal facilities. Commenters expressed concern
    about the lack of enforcement of environmental laws and regulations by Federal agencies.

*•   Several commenters questioned the  length of time taken and the amount of analysis conducted by
    Federal agencies before a health issue is acknowledged.  In addition, commenters expressed concern
    about the lack of interim measures taken by Federal agencies to address those health effects on
    communities.

>   Several commenters continued to express concern about the lack of enforcement of Title VI related to
    the siting of facilities. Commenters recommended that EPA examine issues related to Title VI to prevent
    discrimination related to health disparities in minority and low-income communities.

>•   Several commenters requested that Federal agencies improve funding and other resources allocated to
    communities-that are adversely effected  by contamination.  Commenters recommended that Federal
    agencies increase their involvement with communities to establish partnerships. In addition, several
    commenters urged that EPA reestablish the Community/University Partnership grant program.

>•   Several commenters also recommended that Federal agencies collaborate and coordinate efforts to
    ensure that public  health issues related  to  communities  adversely  effected  by environmental
    contamination are addressed.  Commenters also requested that Federal  agencies provide training to
    medical professionals on the health effects of environmental contamination, particularly from pesticides.
    Commenters also expressed concern about the lack of access to health care.

»•   Many commenters expressed serious concern about the continued exposure of migrant farm workers to
    pesticides.  Commenters suggested that  research on pesticides and exposure to pesticides has been
    insufficient and requested that EPA examine the process by which pesticides are  registered, as well as
    research into alternatives to reduce the nation's dependence on pesticides, especially methly bromide.

                                      COMMON THEMES

During the meetings of the Executive Council and its subcommittees, the members of the NEJAC discussed
a wide range of issues related to environmental justice. Specific concerns of and commitments made by the
NEJAC are outlined below. Members:

»•   Expressed concern about the apparent lack of involvement by many Federal agencies to address issues
    related to environmental justice as required by Executive Order 12898 on Environmental Justice.

>•   Questioned the apparent disregard by Federal agencies of community  input related to addressing
    potential health.effects caused by contamination.

>•   Expressed concern about the use of chemicals and their effects on workers.

                                              ~~            Atlanta, Georgia, May 23 through 26,2000

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 National Environmental Justice Advisory Council
Executive Summary
 *•  Expressed concern aboutthe backlog of administrative complaints filed underTitle VI at EPA. In addition,
    members expressed concern about the time frame for submitting comments on the two new draft
    guidance documents related to Title VI.

 *•  Recommended that Federal agencies form partnerships and collaborate to effectively address issues
    related to public health and environmental justice.

 Members of the NEJAC continued to express frustration at the inability of the NEJAC and EPA to assist those
 who have provided testimony at public comment periods of the NEJAC about environmental justice concerns
 related to Federal facilities, as well as actions by other Federal agencies. Members expressed concern about
 the lack  of compliance on the part of other Federal agencies to implement Executive Order 12898 on
 Environmental Justice.

 Members of the NEJAC questioned why Federal agencies continue to disregard members of the communities'
 input related to addressing potential health effects caused by contamination. The members pointed out that
 communities are in the best  position to inform government agencies of issues related to public health that
 effect their communities.

 Members of the NEJAC discussed the use of chemicals in the workplace and the effects of exposure on
 workers,  particularly the use of pesticides and their effects on migrant farm workers.  Members expressed
 concern about the lack of enforcement of regulations related to pesticide use.

 Members of the NEJAC continued to express concern about EPA's ability to process in a timely manner
 administrative complaints filed under Title VI.  Members urged EPA OCR to accelerate the process and
 resolve as many cases as possible before the end of the current Presidential administration. Members of the
 NEJAC also expressed concern that community groups may not have sufficient time to read the documents
 and provide comments to OCR in an informed manner.

 Members of the NEJAC discussed that Federal agencies should form more partnerships to address the public
 health issues faced by communities and caused by environmental contamination. Members expressed their
 belief that through such partnerships Federal agencies can collectively develop strategies to assess, prevent,
 and intervene in matters related to public health problems caused by environmental contamination.

                       SUMMARIES OF THE SUBCOMMITTEE MEETINGS

 Summarized below are the deliberations of the members of the six subcommittees of the NEJAC during their
 meetings held on May 25, 2000.

 Air and Water Subcommittee

 >  Members of the subcommittee continued discussions initiated during the December 1999 meeting of the
   subcommittee on the effects and regulation of public utilities as related to environmental justice.  The
   subcommittee agreed to develop a resolution in which the NEJAC recommends that EPA regulate
   mercury emissions from coal-fired power plants.

 >  The subcommittee heard presentations on the environmental and health effects of concentrated animal
   feeding operations (CAFO). The subcommittee submitted to the NEJAC a proposed resolution developed
   jointly with the Enforcement Subcommittee recommending that  EPA commit additional resources to
   regulate CAFOs.

 >  The subcommittee heard presentations and provided input on urban air initiatives around the country.

 >•  The subcommittee also created a joint work group with the Waste and Facility Siting  Subcommittee to
   review EPA Office of Solid Waste and Emergency Response's (OSWER) draft guidance on reducing toxic
   loadings.
Atlanta, Georgia, May 23 through 26, 2000
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 Executive Summary
National Environmental Justice Advisory Council
 *•  Members  of the subcommittee also agreed to expand  the  subcommittee's  work group on  fish
    consumption to include members of the Indigenous Peoples Subcommittee.  The work group would
    investigate the health effects on indigenous populations of the consumption of contaminated fish.

 Enforcement Subcommittee

 *•  Members received presentations thatfocused on health issues and how health data and indicators should
    be used by EPA to target enforcement efforts and resources in communities deem to be the most
    vulnerable to exposure.  Members of the subcommittee expressed concerns and asked questions about
    universal health indicators and targeting enforcement indicators.

 >•  The Enforcement Subcommittee reviewed and approved amendments, submitted by the Air and Water
    Subcommittee, to a proposed resolution on CAFOs.  Members also discussed developing a more
    comprehensive report that would outline and further describe concerns about and issues related to the
    enforcement of the operation of CAFOs.

 >•  The members of the subcommittee discussed at length the health effects and other environmental justice
    issues related to the lack of enforcement of Title VI.  Ms. Goode discussed OCR's  outreach strategy for
    receiving comments on EPA's new draft guidance documents related to Title VI. Noting that the backlog
    of administrative cases filed  under Title VI continues to  increase,  members of the subcommittee
    discussed options for decreasing the backlog of cases.

 Health and Research Subcommittee

 >  The subcommittee held an Interagency Forum to discuss building collaborations between agencies and
    communities to address health care issues. The discussions of the Interagency Forum included clarifying
    the role of each agency, establishing areas of priority for research, and identifying a strategic plan to
    consider the next steps toward improving public health; implementation, development, and evaluation of
    future community-based health assessments; and pollution prevention and intervention issues in minority
    and low-income communities.

 >-  Members of the Community Health Assessment Work Group of the subcommittee presented a report on
    their evaluation of  the  Decision  Tree Framework for  Community-Directed  Environmental  Health
    Assessment.

 >•  Members of the subcommittee agreed to prepare for consideration by the Executive Council of the NEJAC
    a proposed resolution to make recommendations to EPA for the future development of the decision tree
    framework as a priority for EPA.

 Indigenous Peoples Subcommittee

 *•   In response to  continued concerns expressed during earlier public comment periods of the NEJAC,
    members agreed that policies delineating the authority and jurisdiction of government agencies  are
    unclear about issues related to environmental health in Indian country. Members discussed the need for
    each agency to better define their areas of authority and  to exercise increased collaboration to better
    protect the health of tribal members in Indian country.

 »•   Members of the subcommittee recommended that EPA staff responsible for environmental health in
    Indian country need increased training related to cultural issues and the unique government structures
    in Indian country.

 *•   Members of the subcommittee discussed the need for applicable baseline data of environmental health
    in Indian country. Members agreed that Indian Health Services of HHS must ensure the availability of
    data specific to each tribe and  involve tribal communities  in decisions about environmental health.
    Further, tribal communities must understand the benefits of health research, receive accredited training,
    and preserve individual confidentiality during the research.
ES-8
     Atlanta, Georgia, May 23 through 26,2000

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 National Environmental Justice Advisory Council
Executive Summary
 *•   Related to infrastructure, members of the subcommittee discussed the need for innovative sustainable
     technologies in Indian country and the development of proper funding or financial mechanism to provide
     training, education, and technical assistance to tribal members in the operation and maintenance of
     facilities.

 International Subcommittee

 *•   The members of the International Subcommittees heard presentations from farmworkers about living
     conditions of farmworkers; reports on pesticide pollutants and effects on Lake Apopka, Florida; and
     reports from representatives of EPA's Office of Pollution Prevention and Toxics (OPPT), and the Office
     of Enforcement. Recommendations for improving the health of farmworkers included increasing training
     and awareness of pesticides among both farmworkers and people in the medical care industry, enforcing
     compliance of pesticide regulations, and involving more agencies and stakeholders in these discussions.
     The members of the subcommittee agreed to create a Farmworker Work Group to examine these issues.

 >•   The members of the International Subcommittee discussed the follow-up activities to the Roundtable on
     Environmental Justice on the U.S./Mexico Border meeting held August 1999 in National City, California.
     Representatives of EPA regions 6 and 9 provided updates on activities to address the recommendations
     that were developed at the meeting. To effectively implement the recommendations, the members of the
     International Subcommittee agreed to create a work group.

 »•   The members of the International Subcommittee participated in an extensive dialogue with a delegation
     of representatives from South Africa in which ideas were exchanged related to environmental justice. In
     addition, members of the South Africa Work Group of the subcommittee provided updates on the work
     group's progress.

 Waste and Facility Siting Subcommittee

 >   Members of the Superfund Redevelopment Initiative Work Group of the subcommittee explained the
     purpose of the work group which  includes but  is not limited to ensuring that principles related to
    environmental justice and community outreach efforts are meaningfully incorporated into the Superfund
     Redevelopment Initiative policies and plans.  In addition, the work group will be asked to  provide
     recommendations on plans to redevelop Superfund sites for productive and appropriate reuse. The
    following concerns were identified by the work group: education of Remedial Project Managers and
    others about the opportunities that the program presents and the need for a potentially responsible party
    (PRP) representative on the work group.

 >•   Members of the subcommittee participated in a joint session with the Health and Research Subcommittee
    and representatives of Mossville Environmental Action Now (M.E.A.N.), GreenPeace International,
    Louisiana Department of Health and Hospitals, ATSDR, Louisiana Chemical Association, and EPA Region
    6.  The purpose of the discussion was to facilitate the discussion of environmental justice issues in the
    City of Mossville, Calcasieu Parish, Louisiana. As a result of discussions in the joint session, community
    participants and Federal representatives agreed to work togetherto formulate a plan to further investigate
    the possible dioxin exposure of residents in  Mossville and neighboring communities.

 >•   In addition, the members of the subcommittee discussed preparing for consideration by the Executive
    Council of the NEJAC the following resolutions: (1) Requestthat EPA intercede with the U.S. Department
    of Defense to clean up Nomans Island, Weymouth, Massachusetts and to work with the Wampanoag
    Tribe in this process and (2) EPA support the creation of a NEJAC work group to assist ATSDR and EPA
    in following public participation protocols and to focus on bringing  about resolution to issues of concern
    to the Mossville, Louisiana community.
Atlanta, Georgia, May 23 through 26,2000
           ES-9

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Executive Summary
National Environmental Justice Advisory Council
                        SUMMARY OF APPROVED RESOLUTIONS AND
        LETTER TO THE U.S. ENVIRONMENTAL PROTECTION AGENCY ADMINISTRATOR

This section summarizes  resolutions and letter to the EPA Administrator that were discussed by the
subcommittees and approved by the Executive Council of the NEJAC during the meeting. Appendix A
provides the full text of each resolution that was approved by the Executive Council.

The NEJAC approved the following resolutions:

*•   The NEJAC recommends that EPA address environmental justice issues related to persistent organic
    pollutants (POP) and their effects on indigenous populations.

»•   The NEJAC supports EPA's efforts to regulate mercury emissions from coal-fired power plants.

f   The NEJAC recommends that EPA work with other agencies to study the incidence of multiple chemical
    sensitivity in minority communities and low-income communities, especially those heavily impacted by
    environmental pollutants.

>•   The NEJAC urges EPA to commit additional resources to remedy pollution and environmental justice
    issues associated with the siting and expansion of large-scale CAFOs in low-income communities and
    in Indian country.

>   The NEJAC requests that EPA approve the creation of a work group of the Executive Council of the
    NEJAC to address environmental justice issues related to Federal facilities.

>•   The NEJAC request that EPA approve the request of the Health and Research Subcommittee to extend
    the term of the subcommittee's working group that has been developing the Decision Tree Framework
    for Community-Directed Environmental Health Assessment to maintain continuity of the development of
    the framework.

The NEJAC also approved the following letter to the EPA Administrator:

»•   The NEJAC urges EPA to address potential health effects caused by the promulgation of Tier 2
    regulations.

The NEJAC also approved the following work groups of the International Subcommittee to address issues
related to environmental justice:

»•   Farmworker Work Group of the International Subcommittee to address environmental concerns related
    to the conditions under which farmworkers work.

>   Follow-up to the Roundtable on Environmental Justice on the U.S.-Mexico Border Work Group of the
    International Subcommittee to continue to address recommendations developed at the roundtable
    meeting held in August 1999 in National City, California.

The members of the Executive Council of the NEJAC also approved the Framework for Community-Directed
Environmental Health Assessment that was developed by the Working Group on Community Environmental
Health Assessment of the Health and Research Subcommittee.
ES-10
      Atlanta, Georgia, May 23 through 26,2000

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 National Environmental Justice Advisory Council
                                                                                 Executive Summary
                                         NEXT MEETINGS
 The next meeting of the NEJAC is scheduled for December 11 through 14,2000, at the Hyatt Regency Crystal
 City Hotel in Arlington, Virginia. Planned activities will include two opportunities for the public to offer
 comments. Exhibit ES-3 identifies the dates and locations of future meetings as well as the issues the NEJAC
 plans to address. For further information about this pending meeting visit NEJAC's home page on the Internet
 at: orca\\ EPA's toll-free environmental justice hotline
 at 1-800-962-6215.
                                                                                      Exhibit ES-3
                                     FUTURE MEETINGS OF
               THE NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
  Date
  December 11-14,2000
  July 16-19, 2001
  December 3-6, 2001
Location
Arlington, Virginia
Baltimore, Maryland
Seattle, Washington
Issue
Interagency Environmental
Justice Implementation

Environmental Justice and
Pollution Prevention

Subsistence Consumption and
Water Quality Standards
Atlanta, Georgia, May 23 through 26, 2000
                                                    ES-11

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                     MEETING SUMMARY
                           of the
                    EXECUTIVE COUNCIL
                           of the
    NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                   May 23 through 26, 2000
                    ATLANTA, GEORGIA
     Meeting Summary Accepted By:
     ^A^~^J
Charles Lee
Office of Environmental Justice
U.S. Environmental Protection Agency
Designated Federal Official
Haywood Turrentine
Chair

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                                         CHAPTER ONE
                                       SUMMARY OF THE
                                     EXECUTIVE COUNCIL
             1.0  INTRODUCTION

 The fifteenth meeting of the Executive Council of the
 National Environmental  Justice Advisory Council
 (NEJAC) took place on May 23 through 26, 2000 at
 the Omni Hotel at CNN Center in Atlanta, Georgia.
 Mr. Haywood Turrentine, Laborers' District Council
 of Education and Training Trust Fund (an affiliate of
 the Laborers International Union of North America),
 continues to serve as the chair of the NEJAC.  Ms.
 Peggy M. Shepard, Executive Director, West Harlem
 Environmental Action, Inc. and memberof the Health
 and Research Subcommittee, serves as the newly
 appointed vice-chair of the NEJAC.  Mr. Charles
 Lee, Associate Director for Policy and Interagency
 Liaison,  U.S.   Environmental Protection  Agency
 (EPA) Office   of  Environmental  Justice  (OEJ),
 continues to serve as the Designated Federal Official
 (DFO) for  the Executive Council.   Exhibit  1-1
 presents a list of members of the Executive Council
 who were present and identifies those members who
 were  unable to  attend the meeting. Approximately
 536 people attended the  meeting.

 On May  23,   2000, members  of the  NEJAC
 participated in  a  fact-finding  tour of  several
 communities in  Anniston, Alabama. While the fact-
 finding tour proceeded from one site to the next,
 members of the community of Anniston, who served
 as narrators on the tour, presented for the members
 of the NEJAC an overview of the public health and
 environmental  concerns of local residents.   The
 narrators shared information about the community
 and sites of interest and solicited the support of the
 NEJAC in seeking  resolution of issues confronting
 their  communities.  Exhibit  1-2, on  page 1-2,
 describes the fact-finding tour.

 On May 25, 2000,  each  member of the Executive
 Council participated in the deliberations of one of the
 six subcommittees of the NEJAC.  Chapters three
 through eight of this meeting summary describe
 those deliberations. In addition, the members of the
 Health and  Research and Waste and Facility Siting
 subcommittees  of the NEJAC participated in a joint
 session to discuss the investigation of exposure to
 hazardous pollutants in Mossville, Calcasieu Parish,
 Louisiana,  conducted by the Agency  for  Toxic
 Substances and  Disease Registry (ATSDR)  in
 November  1999.   Chapter nine of  this meeting
summary describes that joint session.
                                     Exhibit 1-1
             EXECUTIVE COUNCIL

                   Members
            Who Attended the Meeting
             May 23 through 26,2000

           Mr. Haywood Turrentine, Chair
         Ms. Peggy M. Shepard, Vice-Chair
              Mr. Charles Lee, DFO

               Ms. Rose Augustine
                 Mr. Luke Cole
              Mr. Fernando Cuevas
               Mr. Amoldo Garcia
              Dr. Michel Gelobter*
               Mr. Tom Goldtooth
             Ms. Jennifer Hill-Kelley
              Ms. Patrica Hill-Wood
             Ms. Annabelle Jaramillo
             Ms. Vernice Miller-Travis
               Mr. Harold Mitchell
                Mr. Carlos Padin
              Dr. Marinelle Payton
              Ms. Rosa Hilda Ramos
                 Ms. Jane Stahl
             Mr. Robert W. Varney**
                Ms. Jana Walker
              Mr. Damon Whitehead
                Mr. Jess Womack
               Mr. Tseming Yang

                   Members
           Who Were Unable to Attend

               Mr. Don J. Aragon
              Ms. Meghan Magruder
               Mr. Gerald Torres

  *'Attended May 23 and 24, 2000 only
  **'• Attended May 24, 2000 only
In addition, the Executive Council hosted two public
comment periods, a General Environmental Justice
Issues Public Comment Period on the evening of
May 23 and a Focused Public Comment Period on
the evening of  May 24, 2000 that  focused on
environmental justice issues related to public health.
Approximately 61 people offered comments during
those sessions. Chapter Two presents a summary
Atlanta, Georgia, May 23 through 26, 2000
                                           1-1

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Executive Council
      National Environmental Justice Advisory Council
                                                                                          Exhibit 1-2
                          FACT-FINDING TOUR OF ANNISTON, ALABAMA

  On May 23,2000, members of the National Environmental Justice Advisory Council (NEJAC) participated in a fact-
  finding tour of several communities in Anniston, Alabama. Such fact-finding tours provide members of the NEJAC
  information about the environmental concerns of local communities in the areas in which meetings of the NEJAC are
  held. In Anniston, the fact-finding tour focused on community health issues associated with contamination of soil
  with polychlorinated biphenyls (PCB) caused by local industry. The following summary describes the fact-finding
  tour conducted during the meeting of the NEJAC.

  Monsanto/Solutia Facility. The Monsanto/Solutia Facility, located in the community of Anniston, Alabama, began
  producing and selling PCBs in 1935. In 1975, the U.S. Environmental Protection Agency (EPA) discovered high
  levels of PCB contamination throughout Anniston. Community members pointed out that residents of Anniston
  suffer from a variety of illnesses, ranging from cancer to learning disabilities. The tour passed by "Mount
  Monsanto," a landfill at which the Monsanto/Solutia facility dumped waste. Community members stated that, during
  periods of heavy rain, runoff seeps from the mountain and floods their houses, which are located in a flood plain. In
  addition, PCBs contaminate Snow Creek, which runs from Anniston into several other communities.  The Federal
  Emergency Management Agency (FEMA) recently bought several of the homes, but some residents have refused to
  relocate. The situation in Anniston further demonstrates that environmental justice issues are not only limited to
  minority communities; rather, the environmental justice issues in Anniston affect low-income Caucasian communities
  as well.

  Other Industrial Sites. The fact-finding tour also passed by a variety of other industrial sites in Anniston, including
  scrap and recycling yards, foundries, an underground storage tank yard, and the Anniston Army Depot. Many of the
  sites leach chemicals and pollutants and are located on Snow Creek or tributaries of Snow Creek that flow into the
  city of Oxford, Alabama. Members of the NEJAC listened to Mr. David Baker, President, Community Against
  Pollution (CAP), speak about Monsanto/Solutia and the health problems associated with the actions of those
  corporations.  Mr. Baker stated that CAP'S goal is to establish a health clinic in Anniston and to conduct health
  screening and testing for residents.
of the  comments  offered  during  the two  public
comment periods.

This chapter, which provides a summary of the
deliberations of the Executive Council, is organized
in eight sections, including this Introduction. Section
2.0, Remarks, presents summaries of the remarks
offered by various speakers.  Section 3.0,  Panel
Sessions on EnvironmentalJustice and Community-
Based Health Model, provides a summary of the
series of  panel  sessions  presented  by various
stakeholder  groups.     The  panelists   made
presentations that were designed to provide insight
into the issues and concerns raised with respect to
environmental justice and developing a community-
based health model.  Section 4.0,  Reports and
Presentations, provides summaries of reports and
presentations made  to the Executive Council  on
various  topics.    Section  5.0,  Reports of  the
Subcommittees, summarizes  reports submitted to
the Executive Council about the deliberations of
each of the six subcommittees during their meetings
on May 25, 2000.  Section 6.0, Follow-Up Issues
Related to Environmental Justice and the Issuance
of Permits, focuses  on several  issues related to
environmental justice and the issuance of permits.
Section 7.0, Closing Remarks, presents the closing
remarks of the Director and Associate Director of
EPA OEJ.   Section 8.0,  Summary of Approved
Resolutions and Letters to the U.S.  Environmental
Protection  Agency  Administrator,   provides  a
summary of  the letter forwarded  to  the  EPA
Administrator by the Executive Council and presents
a summary  of  the  resolutions forwarded to the
Executive Council  by the subcommittees of the
NEJAC that the Executive Council subsequently
approved. Appendix A presents the full text of each
resolution that was  approved  by the  Executive
Council. Appendix B presents a list of the members
of the  NEJAC.  Appendix  C provides a list of the
participants  in the meeting. Appendix D provides a
copy of the written  statement submitted to the
NEJAC during the two public comment periods.

                2.0  REMARKS

This section  summarizes the  remarks of  the
Principal Deputy Assistant Administrator of EPA's
Office of Enforcement and Compliance Assurance
(OECA); the Regional Administrator of EPA Region
4; the  Director  of  EPA  OEJ; and  the Deputy
Administrator of EPA.
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 National Environmental Justice Advisory Council
                               Executive Council
 2.1 Remarks of the Principal Deputy Assistant
    Administrator, U.S. Environmental Protection
    Agency  Office  of   Enforcement   and
    Compliance Assurance

 On behalf of EPA, Ms. Sylvia Lowrance, Principal
 Deputy  Assistant  Administrator,  EPA  OECA,
 welcomed the members of the Executive Council
 and all the participants to the fifteenth meeting of the
 NEJAC.   She noted that the meeting marked a
 "tremendously important milestone" in the progress
 of the NEJAC and its work with EPA.

 To address public health problems in communities,
 Ms. Lowrance explained, it is essential to have better
 science  with  regard  to  those  health   and
 environmental problemsthatface communities. She
 noted that there has been a void in addressing such
 issues and that the missing link has been health
 research. She then expressed her excitement about
 the program that the NEJAC would be focusing on
 during the meeting and made a commitment that
 EPA would follow-up on the work accomplished by
 the NEJAC during the meeting. Ms. Lowrance then
 introduced   Mr.   John  Hankinson,   Regional
 Administrator of EPA Region 4.

 2.2 Remarks of the Regional Administrator, U.S.
    Environmental Protection Agency Region 4

 On behalf of the staff of EPA Region 4,  Mr.
 Hankinson expressed  pleasure  in  hosting  the
 meeting  of  the NEJAC that had drawn higher
 attendance than any previous meeting.  In 1996, Mr.
 Hankinson then reported, EPA Region 4 had been
 reorganized dramatically to better serve communities
 that  have environmental  justice  concerns.   Mr.
 Hankinson also stressed that the reorganization had
 been designed not only to serve such communities
 better, but also to improve the manner which the
 region conducts  its daily  activities  related  to
 environmental justice.  In  other words, he pointed
 out, to ensure that Concerns related to environmental
justice become integrated  into all activities and
 across all media programs.  Mr.  Hankinson also
 acknowledged the efforts of activists - such as Ms.
 Connie Tucker, Southern Organizing Committee for
 Economic and Social Justice and former member of
the Waste and Facility Siting Subcommittee of the
 NEJAC;  Dr.  Mildred   McClain,  Citizens  for
 Environmental Justice and former member of the
 International  Subcommittee of the NEJAC; and Dr.
 Robert Bullard, Environmental  Justice Resource
Center, Clark Atlanta University and former chair of
the Health  and Research Subcommittee of  the
NEJAC - who continue to provide leadership and
advice to  the  region's  programs  related  to
environmental  justice.   He also  attributed  the
 success of EPA  Region 4  activities related  to
 environmental  justice  to the leadership  of Mr.
 Richard Green, Director, Waste  Division,  EPA
 Region 4, who, noted Mr. Hankinson, has worked to
 transform the activities of his staff to become more
 responsive to community interests and to learn about
 the concerns of communities in addressing waste
 issues.   Mr.  Hankinson  also recognized the
 leadership of Ms. Phyllis Harris, Regional Counsel
 and Director of the  Environmental Accountability
 Division, EPA Region 4, who leads the efforts in the
 region to integrate principles of environmental justice
 into all the activities of EPA Region 4.

 Mr. Hankinson then stated  that he was looking
 forward  to the discussion related  to community
 health   and   the  means   of   incorporating
 considerations of a community's health needs into
 the  decision-making  process.   He  expressed
 agreement with Ms. Lowrance that  it is extremely
 important to have the best science possible upon
 which   to  base  judgements related  to  the
 environmental health of a community. Concluding
 his remarks, Mr. Hankinson stressed the necessity
 that EPA work with  other  agencies  and other
 programs that  not only focus on  environmental
 issues,  but also deal with all issues that must be
 addressed if communities are to be healthy.

 2.3 Remarks of the Director, U.S. Environmental
    Protection  Agency Office of Environmental
    Justice

 Mr. Barry Hill, Director, EPA OEJ, began his
 presentation by welcoming all participants  to the
 meeting of the NEJAC on public health, noting that
 it was appropriate that the  meeting be held in
 Atlanta, Georgia, the home of the U.S. Department
 of Health and Human Services' (HHS) Centers for
 Disease Control and Prevention (CDC) and ATSDR.
 Exhibit 1 -3, on the next page, describes the missions
 of those two agencies.  Mr.  Hill then placed the
 meeting in perspective by reminding the participants
 that the mission of  EPA is to protect human  health
 and to safeguard the natural environment — the air,
 water,  and land  upon which all  life depends.
 Therefore, he declared, the issue of protecting public
 health is of great importance to the Agency. Mr. Hill
 commented that, while the Agency has made great
 strides in safeguarding the natural environment, EPA
 has not been as successful  in protecting human
 health.   That  is  why, he explained, the EPA
 Administrator, through OEJ, had requested that the
 NEJAC  focus a meeting on the issue  of  public
 health. The Agency, he emphasized, was seeking
 the advice and recommendations of the NEJAC, a
 multi-stakeholder advisory committee, on how better
to address issues related to public health.
Atlanta, Georgia, May23 through 26,2000
                                          1-3

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Executive Council
      National Environmental Justice Advisory Council
                                                                                          Exhibit 1-3
                        CENTER FOR DISEASE CONTROL AND PREVENTION

  The mission of the Center for Disease Control and Prevention (CDC) of the U.S. Department of Health and Human
  Services (HHS) is to promote health and quality of life by preventing and controlling disease, injury, and disability.
  The CDC pledges to the American people:

  •   To be a diligent steward of the funds entrusted to it.

  •   To provide an environment for intellectual and personal growth and integrity.

  •   To base all public health decisions on the highest quality scientific data, openly and objectively derived.

  •   To place the benefits to society above the benefits to the institution.

  •   To treat all persons with dignity, honesty, and respect.

                  THE AGENCY FOR TOXIC SUBSTANCES AND DISEASE REGISTRY

  The mission of the Agency for Toxic Substances and Disease Registry (ATSDR), also an agency of HHS, is to
  prevent exposure and adverse human health effects and diminished quality of life associated with exposure to
  hazardous substances from waste sites, unplanned releases, and other sources of pollution present in the environment.

  ATSDR is directed by congressional mandate to perform specific functions related to the effect on public health of
  hazardous substances in the environment. Those functions include public health assessments of waste sites, health
  consultations related to specific hazardous substances, health surveillance and registries, response to emergency
  releases of hazardous substances, applied research in support of public health assessments, development and
  dissemination of information, and education and training related to hazardous substances.
Continuing, Mr. Hill explained that the underlying
question the  panelists and  the members of the
NEJAC should address is whether there is a direct
correlation between the  environment  and  public
health.   Many people  would agree  that a direct
correlation exists, he noted; however, when asked to
demonstrate   the   connection,  communities,
scientists, and public health officials are unable to do
so because the science does not yet exist.  Mr. Hill
then  provided  a  list  of  questions  related  to
demonstrating the  direct correlation  between the
environment and public health that were to be posed
over the course of the meeting:

•   If  not now, when will  sound   science  be
    available?

•   Are [government agencies] making g reat strides
    in that direction?

•   How far do [government agencies] have to go to
    satisfy not only the scientists and public health
    officials, but also the concerned public?

•   What must Federal, state, and local government
    agencies  do  to focus  their attention and
    considerable resources on  demonstrating the
    direct correlation?
•   How can communities become more involved in
    demonstrating  the   direct  correlation   by
    developing and using community-based health
    research models?

•   How can industry be  of assistance in using its
    considerable  resources to participate in  the
    dialogue of demonstrating the direct correlation?

Mr. Hill then pointed out that the question of whether
or not there is a direct  correlation between  the
environment and public health is not a new one, but
was posed and discussed by a Roman architect in
the first century B.C.  Continuing, Mr. Hill explained
that the question now, moving to the year 2000, is
whether or not residents of minority and low-income
communities deserve clean air, water, and land like
all other Americans. Mr. Hill then asked whether the
health of the residents of those communities should
be the focus of concern of the Federal government
because   those  residents   are   exposed
disproportionately to environmental harms and risks.
He stated  that the U.S.  Secretary  of  Health and
Human Services and the U.S. Surgeon General had
answered yes to that question by sponsoring  the
Healthy People 2010 Initiative. Exhibit 1 -4 describes
the initiative.
1-4
            Atlanta, Georgia, May 23 through 26,2000

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 National Environmental Justice Advisory Council
                                 Executive Council
                                      Exhibit 1-4
         U.S. DEPARTMENT OF HEALTH
            AND HUMAN SERVICES
            HEALTHY PEOPLE 2010

   The Office of Disease Prevention and Health
   Promotion (ODPHP), U.S. Department of Health and
   Human Services (HHS) serves as the coordinator for
   the Healthy People 2010 Initiative. The initiative is
   the prevention agenda for the United States and is a
   statement of national health objectives designed to
   identify the most significant preventable threats to
   health and to establish national goals to reduce those
   threats. Healthy People 2010 is a national health
   promotion and disease prevention initiative that
   brings together national, state, and local government
   agencies; nonprofit, voluntary, and professional
   organizations; businesses; communities; and
   individuals to improve the health of all Americans
   and eliminate disparities in health.

   For more information about the initiative, visit the
   HHS home page at
   .
 Mr. Hill explained that the initiative was designed to
 achieve two principal goals:  (1)  to improve the
 quality of life and increase the years of healthy life of
 all Americans of all ages and (2) to eliminate health
 disparities  among the various segments  of the
 population  that are identified by race or ethnicity,
 education,  and  income.   That second  goal, he
 pointed out, is the focus of the environmental justice
 movement.

 Mr. Hill then discussed several statistics, identified in
 a report developed under the Healthy People 2010
 Initiative, disparities in health among minority racial
 and ethnic groups, compared with white Americans:

 •   The  infant   mortality  rate  among  African-
    Americans remains more than double that for
    white Americans.

 •   The death rate for heart disease is more than 40
    percent higher among African-Americans  than
    among whites.

 •   The death rate for all cancers is 30 percent
    higher  among African-Americans than among
    white Americans.

•   The  incidence  of  prostate  cancer  among
    African-Americans is more,than double  that
    among white Americans.
 •   The death rate for African-American women for
     breast  cancer  is  higher  among  African-
     Americans than among white women, despite a
     mammography screening rate that is higherthan
     that for white women.

 •   Hispanics [constituting only 11 percent of the
     total population] accounted for 20 percent of all
     new cases of tuberculosis.

 •   Hispanics have  higher  rates  of  high blood
     pressure and obesity than non-Hispanic whites.

 •   The infant death rates among American Indians
     and Alaska Natives almost double that for white
     Americans.

 •   The incidence of diabetes among American
     Indians and Alaska Natives is more than twice
     that among white Americans.

 Mr.  Hill then explained that, according to the report,
 environmental quality was one of the leading health
 indicators that explain the disparities.   Regarding
 environmental quality, the report stated  that an
 estimated  25 percent of preventable  illnesses
 worldwide can be attributed to poor environmental
 quality, he said.   In  the United States alone, air
 pollution is estimated  to be associated with 50,000
 premature deaths  and an estimated $40  to  $50
 billion in health-related costs annually, he noted. Mr.
 Hill  noted  further that, despite the mountain of
 statistics that particular report included, neither the
 U.S. Secretary of Health and Human Services nor
 the U.S. Surgeon General had concluded that there
 was a direct correlation between the environment
 and  public health  because sound science  is not
 available.  He also said that the report had stated
 clearly that, in the  United  States, ensuring clean
 water, safe food, and  effective waste management
 had  contributed greatly to a decline in the threat of
 many infections.

 Concluding  his  remarks,  Mr.  Hill  noted  that
 answering conclusively that underlying question was
 beyond the  breadth and the scope of the NEJAC
 meeting; however, he  said that he, on behalf of the
Agency, was   looking forward  to  receiving  the
 NEJAC's advice and  recommendations so that all
stakeholders could move closer to proving the direct
correlation.

2.4 Remarks  of the Deputy  Administrator, U.S.
    Environmental Protection Agency

Mr. Michael McCabe, Deputy Administrator of EPA,
expressed his  appreciation to Mr. Turrentine for his
leadership of the NEJAC and to the members of the
Atlanta, Georgia, May 23 through 26,2000
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 Executive Council
      National Environmental Justice Advisory Council
                                                                                       Exhibit 1-5
    DELEGATION FROM SOUTH
              AFRICA

  In May 2000, the U.S. Environmental
  Protection Agency (EPA) hosted
  delegates representing the South African
  environmental justice community to an
  intensive program conducted in the
  southeastern United States. The picture
  to the right shows the members of the
  delegation.  The delegates spent
  approximately 10 days visiting
  communities that face environmental
  justice challenges similar to those
  encountered by communities in South
  Africa. Representatives of
  environmental justice communities,
  including members of the South Africa Work Group of the International Subcommittee of the National
  Environmental Justice Advisory Council (NEJAC), spent countless hours working with EPA to prepare for the visit.
  A one-day "lessons learned" session covered the experiences of communities in the United States, discussions of
  goals that remain to be achieved, and a review of the history of the NEJAC. In addition, the delegates participated in
  the meeting of the International Subcommittee held on May 25,2000, during the four-day meeting of the NEJAC in
  Atlanta, Georgia. Chapter seven of the summary of that meeting provides a summary of the dialogue between the
  members of the International Subcommittee and the delegates from South Africa.
Executive Council for the time and effort they spend
on important issues related to environmental justice.
He then recognized and welcomed the delegation of
environmental justice  leaders from South Africa
present at the meeting. Exhibit 1-5 provides further
information about the South African delegation. Mr.
McCabe then noted  that the NEJAC had been
providing crucial and important advice to the EPA
Administrator for the past seven years and has had
a direct effect on many of the Agency's initiatives,
such as the Brownfields Economic Redevelopment
Initiative.  Mr. McCabe stated that  he now would
request that the NEJAC provide help and guidance
related  to  the  role of risk assessment  and the
cumulative effects of environmental contamination
on communities.
Announcing that EPA's Office of Civil Rights (OCR)
soon  was to  release  two  new  draft guidance
documents to clarify for government agencies and
the public the compliance requirements set forth
under Title VI of the Civil Rights Act of 1964 (Title
VI), Mr. McCabe commented that the development
of the  documents  had  been  a difficult task.
However, he added, EPA  had broken new ground
through   the  extensive   involvement  of  all
stakeholders in the development of the documents.
Section 4.2  of this chapter provides a detailed
discussion of the draft documents. Mr. McCabe then
expressed EPA's belief that the new documents will
help to address a number  of the environmental
justice issues that affect  communities.  He  also
expressed his hope that the NEJAC would review
and provide comments on the draft documents when
they are released.

Updating the members of the Executive Council on
the activities of the Interagency Working Group on
Environmental   Justice   (IWG),  Mr.   McCabe
announced  the  development of the  Integrated
Federal Interagency Environmental Justice Action
Agenda (Action Agenda). Exhibit 1-6 describes the
IWG and provides background information about the
Action Agenda.

Mr. McCabe explained that the goal of the Action
Agenda is to bring together the resources of 11 of
the 17 Federal agencies called upon in Executive
Order  12898  on  Environmental Justice to help
environmentally   and   economically   distressed
communities.  Together, Mr. McCabe stated, the
Federal agencies had identified 15 environmental
justice demonstration projects; it is anticipated that
Federal resources will be used in a targeted manner
to improve the quality of  life for members of 15
minority or  low-income communities  that suffer
disproportionately  the  effects of  environmental
contamination. Exhibit 1 -7, on page 1 -8, provides a
list of the projects.
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            Atlanta, Georgia, May 23 through 26,2000

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 National Environmental Justice Advisory Council
Executive Council
                                                                                                  Exhibit 1-6
                  INTERAGENCY WORKING GROUP ON ENVIRONMENTAL JUSTICE'S
                                 INTEGRATED FEDERAL INTERAGENCY
                             ENVIRONMENTAL JUSTICE ACTION AGENDA

  On February 11,1996, President Clinton signed Executive Order 12898 on Environmental Justice, which calls upon
  17 Federal agencies and offices of the White House to ensure that principles related to environmental justice are an
  integral part of the Agency's mission, to the extent practible and permitted by existing law. The Executive order
  mandates objectives for the Federal agencies to achieve in the following areas:

  •   Identify disproportionately high and adverse human health and environmental effects on minority and low-
      income populations.

  •   Coordinate research and data  collection.

  •   Conduct public meetings.

  •   Develop interagency model projects.

  The Executive order also establishes an Interagency Working Group on Environmental Justice (IWG), composed of
  representatives of those agencies and offices, to accomplish the objectives.

  In June 1999, the IWG began  to develop the concept of an environmental justice action agenda as a way of
  incorporating principles of environmental justice in all policies, programs, and activities of Federal agencies. Two
  environmental justice listening sessions (the first held on July 11,1998, in Los Angeles, California and the second
  held on March 6, 1999, in New York, New York) sponsored by the White House Council on Environmental Quality
  (CEQ) and the U.S. Environmental Protection Agency (EPA)  Office of Environmental Justice (OEJ) and a national
  conference, Environmental Justice: Strengthening the Bridge Between Economic Development and Sustainable
  Communities, held June 10 through 12, 1999, in Hilton Head, South Carolina, provided new energy to Federal
  interagency efforts to secure a healthy and sustainable environment for all Americans regardless of race, color,
  ethnicity, or economic status.  The events provided new opportunities for senior Federal officials to respond directly
  to affected communities and for meaningful dialogue among all stakeholders.

  The Integrated Federal Interagency Environmental Justice Action Agenda (Action Agenda) seeks to build dynamic
  and proactive partnerships among Federal agencies to benefit environmental and economically distressed
  communities.  Increased coordination and cooperation among Federal agencies will enhance identification,
  mobilization, and utilization of Federal resources. Increased coordination and cooperation also will enhance the
  capability of distressed communities to .improve environmental decision-making and more efficiently access and
  leverage initiatives sponsored  by the Federal government.  The Action Agenda will improve the quality of life for
  minority or low-income populations that suffer disproportionate environmental effects. Those populations also may
  include indigenous and tribal communities.

  The Action Agenda will include examples of interagency environmental justice projects and agency-specific
  initiatives to be initiated or implemented by various Federal agencies in 2000. The Action Agenda seeks to build the
  constructive problem-solving capacity of communities in partnership with state, tribal, and local governments. The
  Action Agenda is not intended to replace or supersede existing Federal, state, tribal, or local government decision-
  making processes.
Atlanta, Georgia, May 23 through 26,2000
             1-7

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 Executive Council
National Environmental Justice Advisory Council
                                                                                              Exhibit 1-7
        INTEGRATED FEDERAL INTERAGENCY ENVIRONMENTAL JUSTICE ACTION AGENDA
                      ENVIRONMENTAL JUSTICE DEMONSTRATION PROJECTS

  Under the Interagency Working Group on Environmental Justice's (IWG) Integrated Federal Interagency
  Environmental Justice Action Agenda, 11 Federal agencies have initiated environmental demonstration projects to
  help 15 environmentally and economically distressed communities. Communities selected are composed of
  predominantly minority or low-income populations that face negative environmental, public health, or socioeconomic
  effects because of environmental contamination. The 15 projects and the lead Federal agency for each are:

  •   Greater Boston Urban Resources Partnership:  Connecting Community and Environment (Boston,
      Massachusetts) - U.S. Environmental Protection Agency (EPA).

  •   Camden: City of Children Partnering for a Better Future (Camden, New Jersey) - U.S. Department of Housing
      and Urban Development (HUD).

  •   New York City Alternative Fuel Vehicle Summit (New York, New York) - U.S. Department of Energy (DOE).

  •   Addressing Asthma in Puerto Rico: A Multi-Faceted Partnership for Results (Puerto, Rico) - U.S. Department
      of Health and Human Services (HHS) Health Resources and Services Administration.

  •   Bridges to Friendship Nurturing Environmental Justice in Southeast and Southwest Washington, D.C.
      (Washington, D.C.) - U.S. Department of the Navy, U.S. Department of Defense (DoD).

  *   Community Cleanup and Revitalization in Arkwright/Forest Park (Spartanburg, South Carolina) - EPA.

  •   Protecting Children's Health and Reducing Lead Exposure Through Collaborative Partnerships (East St. Louis,
      Illinois) - EPA and HUD.

  *   Bethel New Life Power Park Assessment (Chicago, Illinois) - DOE.

  •   New Madrid County Tri-Community Child Health Champion Campaign (New Madrid County, Missouri) - EPA
      and U.S. Department of Agriculture  Natural Resources Conservation Service.

  •   Easing Troubled Waters: Ensuring Safe Drinking Water Sources in Migrant Farmworker Communities in
      Colorado (Colorado) - EPA.

  *   Environmental Justice and Public Participation Through Technology: Defeating the Digital Divide and Building
      Community Capacity (Savannah, Georgia and Fort Belknap Indian Reservation, Montana) - DOE.

  •   Protecting Community Health and Reducing Toxic Air Exposure Through Collaborative Partnerships in Barrio
      Logan (San Diego, California) - EPA.

  •   Oregon Environmental Justice Initiative (Portland and rural communities, Oregon) - U.S. Department of Justice.

  •   Metlkatla Indian  Community Unified Interagency Environmental Management Task Force (Ketchikan, Alaska) -
      DoD.

  •   Environmental Justice in Indian Country: A Roundtable to Address Conceptual, Political and Statutory Issues
      (Albuquerque, New Mexico) - DOE.

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 National Environmental Justice Advisory Council
                               Executive Council
 Drawing  on the IWG's experiences with the  15
 projects, the Federal agencies will endeavor to add
 more projects and broaden participation to additional
 agencies, Mr. McCabe continued. Emphasizing that
 the Action Agenda is a work in  progress,  he
 explained that the IWG would examine  how the
 agencies work together and how they work with
 communities.  Concluding his  discussion of the
 Action Agenda, Mr. McCabe stated that the initiative
 is an opportunity for EPA to work with the Agency's
 Federal  partners to  bring  new  resources  to
 communities  that have  environmental  justice
 concerns.

 Continuing his remarks, Mr. McCabe explained that,
 under the leadership of the EPA Administrator, Ms.
 Carol Browner, the Agency  had been and would
 continue  to  be guided by the vision  of  a  new
 partnership - economic prosperity and protection.
 Mr. McCabe expressed the Agency's belief that
 economic expansion and environmental protection
 are  goals  that  must be  achieved  together.
 Experience, he noted,  has demonstrated that an
 investment in the environment is an investment in
 job creation and in raising healthy children. Over the
 past seven years, he emphasized, EPA has been
 guided by the belief that principles of environmental
 justice must be rooted in the understanding that all
 people  share the planet,  all share the  future;
 therefore,  all must  share the  responsibility  of
 environmental protection.

 One  important  step in that pursuit, Mr. McCabe
 pointed out, has been EPA's right-to-know initiatives
 that provide people with the information they need to
 participate more meaningfully in decision-making
 processes that affect their communities.

 Therefore, Mr. McCabe stated,  EPA has  worked
 hard  to ensure that  local  communities  have the
 information they require to safeguard public health
 and preserve the  environment.   He cited as an
 example the Toxic Release  Inventory (TRI) data
 base, which provides citizens with information about
 toxic  chemicals  used,  manufactured, treated, or
 transported  in or  near their communities.  He
 concluded his remarks by noting that EPA has aimed
 to facilitate the active and informed participation of
 all stakeholders in the public policy process and has
 encouraged all citizens  to seize the right to guide
 EPA's policy and accept the responsibility for doing
 so.

 Mr. Damon Whitehead,  Earth Conservation Corps
 and member of the Air and Water Subcommittee of
the  NEJAC,  expressed disagreement  with  Mr.
 McCabe's statement that EPA "has brought new life
to Title VI." Mr. Whitehead expressed his and the
 NEJAC's continued concern about the backlog of
 administrative complaints filed under Title VI.  Mr.
 Whitehead stressed that EPA must  not wait to
 decide the pending cases until the two new draft
 guidance documents become final. In response, Mr.
 McCabe   noted  that  the  new  draft  guidance
 documents would provide the framework for the
 Agency to make decisions about the pending cases.
 Mr. McCabe also expressed his belief that, no matter
 what the outcome of the presidential  elections in
 November 2000,  EPA had built a solid foundation
 and legal basis for action under Title VI.

 Mr. Luke  Cole, California Rural Legal Assistance
 Foundation  and  chair  of  the  Enforcement
 Subcommittee of the NEJAC, commented he also
 had been startled when Mr. McCabe remarked that
 EPA had made a considerable amount of progress
 related to the implementation of Title VI. Mr. Cole
 then reviewed several commitments EPA had made
 to the NEJAC since 1996 about guidance related to
 Title VI, none of which, he pointed, had the Agency
 met.   Mr.  McCabe noted that he understood the
 frustration that Mr. Cole and other members  of the
 NEJAC have felt; however, he said, EPA believes
 that the new draft guidance documents will stand up
 to assaults by industry and state governments.

 Ms. Rose Marie Augustine, Tucsonans for a Clean
 Environment and vice chair  of the  Health and
 Research Subcommittee of the NEJAC, expressed
 her frustration at the inability of the NEJAC and EPA
 to assist those who  have provided testimony at
 public  comment  periods of  the NEJAC  about
 environmental justice concerns related to Federal
 facilities, as well as actions by other Federal
 agencies. Mr. Turrentine then provided Mr. McCabe
 with brief  background information related to Ms.
 Augustine's concern.  Noting that there  continue to
 be a number of people coming before the NEJAC
 who report environmental health problems caused by
 Federal facilities,  Mr. Turrentine stated that the
 NEJAC had been frustrated because the council
 cannot address those issues adequately because
 the Federal agencies do not conduct an active
 dialogue with the NEJAC. Mr. McCabe stated that
 he understands the frustration felt by the members
 of the NEJAC related to lack of participation by other
 Federal agencies.  Mr. McCabe then stated his hope
that the Action Agenda would prove to be an
opportunity to begin such a dialogue.

 Mr. Tom   Goldtooth, Indigenous Environmental
Network and chair  of  the Indigenous  Peoples
Subcommittee of  the NEJAC, noted  that  many
Native American communities are concerned about
elevated levels of dioxin, not only in their bodies, but
also in the food they consume. Mr. Goldtooth stated
Atlanta, Georgia, May 23 through 26,2000
                                          1-9

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Executive Council
                                                     National Environmental Justice Advisory Council
that, forthe past six years, his organization had been
requesting that EPA release a report that reassesses
dioxin; he then stated his belief that there is new
information that demonstrates that dioxin causes
cancer. He asked Mr. McCabe when EPA would
release the document to the public.  Mr. McCabe
responded  that the dioxin reassessment report
currently was under interagency review and said that
he anticipated that the  draft document would be
available for release in mid-June 2000. Mr. McCabe
also explained that some of the delay in releasing
the report  had occurred because it  had been
reviewed  by various  sectors  of the  scientific
community,   both  within and  outside  EPA.
Continuing, Mr. McCabe also explained that the first
version of the report had been based solely on
animal studies; since then, he pointed  out, many
human  and  epidemiological studies  had been
conducted, and  those  studies  provided better
information.  Mr. McCabe also noted that the new
report was to state that the risk rate for dioxin, in
terms of causing cancer, is 10 times higher than
previously estimated. Mr. McCabe emphasized one
important finding of the new study that revealed that
steps taken by EPA over the past seven years had
helped to reduce the amount of dioxins released into
the environment by more than 90 percent. He stated
further that a significant amount of dioxin remains in
the environment  that must  be  addressed and
stressed the need to inform the public about the
results of the study and possible ways to reduce
human exposure to dioxin.

Ms.  Rosa  Hilda Ramos, Community  of Catano
Against Pollution and member of the Air and Water
Subcommittee of  the   NEJAC,  expressed  her
appreciation for development of the Action Agenda
and requested that representatives of a community
group and an indigenous community group be
included in the membership of the IWG to provide a
"realistic" perspective on the effects of pollution on
communities.  In response, Mr. McCabe,  assured
Ms. Ramos that  representatives  of  communities
would be involved during the development of the
Action Agenda.

Mr. Fernando Cuevas,  Farm  Labor Organizing
Committee  and  member  of  the  International
Subcommittee of  the NEJAC,  expressed concern
that  the Action  Agenda does not  address the
concerns of agricultural workers and that none of the
15 demonstration projects outlined in the agenda
focuses on such workers. In response, Mr. McCabe
noted that the 15 demonstration projects were being
conducted  through interagency coordination and
explained thatthere had been no intention to exclude
agricultural workers. Mr. McCabe agreed to include
that population in future demonstrations projects.
     3.0  PANELS ON ENVIRONMENTAL
       JUSTICE AND DISCUSSION OF
          THE COMMUNITY-BASED
      ENVIRONMENTAL HEALTH MODEL

In its continuing effort to provide independent advice
to the EPA  Administrator in  areas related  to
environmental  justice,  the NEJAC  focused  its
fifteenth  meeting on a specific  policy issue -
environmental  justice  and  its  relationship  to
community-based environmental health research.
On Wednesday, May 24, 2000, the members of the
NEJAC  received a series  of presentations  from
panels of  various  stakeholder  groups.    The
presentations were designed to provide insight into
the issues raised and concerns expressed about the
relationship of environmental  justice and public
health. Exhibit 1 -8 identifies the panel members who
participated in the discussions. Mr. Lee began the
panel presentations by introducing  members  of
EPA's Science Advisory Board (SAB) and Children's
Health Protection Advisory Committee (CHPAC),
who had been invited to participate in the meeting of
the NEJAC.  Exhibit 1-9, on page 1-12, describes
the SAB and the CHPAC.  Members representing
the  SAB were  Mr.  Henry Anderson, Wisconsin
Division of Public Health and Mr. Hilary  Inyang,
Center for Environmental Engineering Science and
Technology, University  of Massachusetts,  Lowell.
Members  representing CHPAC were Dr. Willa
Fisher,  Bremerton-Kitsap  County,  State  Health
District   and  Rabbi   Dan  Swartz,  Children's
Environmental Health Network.  Mr. Lee explained
that the inclusion of representatives of other EPA
advisory committees in the NEJAC's  activities is a
continuing effort of the Agency to coordinate the
advice and activities  of committees  that address
similar issues.   He  added  that the  NEJAC's
discussion  on  issues  of   public  health  in  an
environmental justice context is related closely to
similar work of the SAB and CHPAC.

Mr. Lee further remarked that the  meeting of the
NEJAC had been organized according to the views
and advice of members of the NEJAC; EPA offices,
such as the Office of Research and Development
(ORD) and the  Office of Pesticides, Pollution
Prevention and  Toxics  (OPPT);  and  Federal
agencies such as ATSDR, the National Institute for
Environmental Health Sciences (NIEHS), and the
National Center for Environmental Health (NCEH).
 1-10
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National Environmental Justice Advisory Council
                                                                Executive Council
                                                                                               Exhibit 1-8
                       PANEL PRESENTATIONS ON ENVIRONMENTAL JUSTICE
                  AND DISCUSSION OF THE COMMUNITY-BASED HEALTH MODEL

  The fifteenth meeting of the National Environmental Justice Advisory Council (NETAC) focused on Federal efforts
  to secure disease prevention and health improvement in communities in which there are health disparities that may be
  the result of, or be exacerbated by, disproportionate effects of environmental pollutants and certain socioeconomic
  and cultural factors:  During the meeting, the members of the NEJAC received comments and information related to
  environmental justice and public health from the individuals identified below.

  Panel 1 — Overview:  To what extent might an integrated community-based public health model that includes
  assessment, intervention, and prevention contribute to disease prevention and health improvement in
  environmental justice communities?  _____________________________________________________________
  Robert Bullard, Ph.D.
  Patrick Kinney, Ph.D.
  Richard Moore
Environmental Justice Resource Center, Clark Atlanta University, Atlanta, Georgia
Columbia University School of Public Health, New York, New York
Southwest Network for Environmental and Economic Justice, Albuquerque, New
Mexico
  Panel 2 — Lessons from the Field:  What strategies and areas of research should be pursued to achieve more
  effective, integrated community-based health assessment, intervention, and prevention efforts?  _________
  Ray Campion
  David Carpenter, M.D.
  Katsi Cook
  Carlos Porras
Mickey Leland National Urban Air Toxics Research Center, Houston, Texas
University of Albany School of Public Health, Rensselaer, New York
Akwesasne Mohawk Nation, Berkshire, New York
Communities for a Better Environment, Huntington Park, California
  Panel 3 — Socioeconomic Vulnerability:  How can consideration of socioeconomic status and cultural factors
  (a) contribute to a better understanding of health disparities and cumulative and disproportionate environmental
  effects and (b) be incorporated into community health assessments?  _______________________________
  Michael Callahan

  Walter Handy, Ph.D
  Samara Swanston, J.D.
U.S. Environmental Protection Agency (EPA), Cumulative Risk Technical Review
Panel, Washington, D.C.
Cincinnati Health Department, Cincinnati, Ohio
Greenpoint-Williamsburg Watch Project, Brooklyn, New York
  Panel 4 — Key Federal Initiatives: What strategies should be developed, implemented, and evaluated so as to
  insure substantial participation, integration, and collaboration by Federal agencies, in partnership with impacted
  communities; public health, medical, and environmental professionals; academic institutions; philanthropic
  organizations; state, tribal, and local governments; and the private sector?  ____________________________
  Henry Falk, M.D.
  Jon Kerner, Ph.D.
  Michael Rathsam

  Michael Sage
  Charles Wells
Agency for Toxic Substances and Disease Registry, Atlanta, Georgia
National Cancer Institute, Rockville, Maryland
Indian Health Services, U.S. Department of Human and Health Services, Manlius,
New York
National Center for Environmental Health, Atlanta, Georgia
National Institute of Environmental Health Sciences, Atlanta, Georgia
Atlanta, Georgia, May 23 through 26,2000
                                                                                                     1-11

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Executive Council
      National Environmental Justice Advisory Council
                                       Exhibit 1-9
          SCIENCE ADVISORY BOARD

  In 1978, the U.S. Congress established the Science
  Advisory Board (SAB) under the Environmental
  Research, Development, and Demonstration
  Authorization Act to provide independent scientific
  and engineering advice to the Administrator of the
  U.S. Environmental Protection Agency related to the
  technical nature of its regulations. The SAB
  functions as a technical peer review panel. The SAB
  also conducts its business in public view and benefits
  from receiving public comments during its
  deliberations. For more information about the SAB,
  please visit: 

      CHILDREN'S HEALTH PROTECTION
           ADVISORY COMMITTEE

  The EPA Administrator announced EPA's National
  Agenda to Protect Children's Health in September
  1996, and, in May 1997, EPA established the Office
  of Children's Health Protection (OCHP). EPA also
  established the Children's Health Protection Advisory
  Committee, a Federal advisory committee, to provide
  advice to the EPA Administrator about matters related
  to children's health.

  For more information about the committee, please
  visit:
  .
Mr. Lee then repeated that the meeting would focus
on Federal efforts to secure disease prevention and
health improvement in communities in which there
are health disparities that may be the result of, or be
exacerbated  by,  disproportionate  effects  of
environmental pollutants and certain socioeconomic
and cultural factors, in particular:

•   What strategies and areas of research should
    be pursued to achieve more effective, integrated
    community-based   environmental   health
    assessment,   intervention,  and   prevention
    efforts?

•   How should those strategies be developed,
    implemented,  and evaluated  so as to insure
    substantial  participation,  integration,  and
    collaboration  among  Federal  agencies,  in
    partnership with: impacted communities; public
    health,   medical,   and   environmental
    professionals; academic institutions; state, tribal,
    and local governments; and the private sector?
•   How can consideration of socioeconomic status
    and cultural factors:  (1) contribute to a better
    understanding   of  health   disparities   and
    cumulative and disproportionate environmental
    effects and (2) be incorporated into community
    health assessments?

The following sections provide summaries of each of
the various panel presentations on environmental
justice and public health.

3.1 Panel 1 - Overview: To What Extent Might an
    Integrated Community-Based Public Health
    Model  That   Includes   Assessment,
    Intervention, and Prevention Contribute to
    Disease Prevention and Health Improvement
    in Environmental Justice Communities?

Mr. Lee  initiated the first  panel  discussion, an
overview of environmental justice and public health,
by explaining that the panelists were to offer different
perspectives about  the question, to  what extent
might an integrated  community-based public health
model contribute to the prevention of disease and
the improvement of health in environmental justice
communities.   Exhibit 1-10 presents  the problem
statement that Panel 1 addressed.
                                     Exhibit 1-10
       PANEL 1 - PROBLEM STATEMENT

  This panel provided a historical overview of health
  issues in environmental justice communities and how
  a holistic, integrated view of disease prevention and
  health improvement had evolved. The three
  overview presentations focused on the social science
  perspective to address what might constitute the
  elements of a unified community-based public health
  model that includes assessment, intervention, and
  prevention; the environmental science perspective,
  examining the way that the model has enhanced the
  work of a university-based environmental science
  program; and the community perspective to ensure
  understanding of solution-oriented approaches to
  environmental health challenges confronting
  communities.
Dr. Bullard began his presentation by declaring that
the principle of environmental justice embraces the
concept that all communities are entitled to equal
protection   of  environmental   health,   housing,
transportation, as well as protection under civil rights
laws. Dr. Bullard noted that all communities are not
created equal and that, if a community happens to
be poor, working class, or a community of color, it
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            Atlanta, Georgia, May 23 through 26,2000

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 National Environmental Justice Advisory Council
                                Executive Council
 receives  less environmental protection and  less
 access to health care and medical services.   He
 stated that the environmental justice  movement
 always had included community health as a central
 theme of its struggle.  He stated that the dominant
 paradigm  of   environmental  protection
 institutionalizes unequal  protection  under laws -
 because  it trades human health  for profits.   Dr.
 Bullard stated that the burden of proof is placed on
 the   victims  of  environmental   contamination.
 Continuing, he explained that that paradigm also
 creates an industry that focuses on risk analysis and
 risk assessment, rather than pollution and disease
 prevention.

 Dr. Bullard also explained that it  is not always a
 matter of  having the  facts and science to solve
 problems.  For example, he stated, government
 agencies have 30 years  of documentation of lead
 poisoning, yet lead still is found in housing today and
 is poisoning children.  Dr. Bullard declared that it is
 a matter  of  government  agencies having  the
 resolution and commitment necessary to end that
 problem.

 Continuing, Dr. Bullard  pointed  out that  locally
 unwanted  land uses  (LULU) are not  distributed
 randomly among communities; therefore, the effects
 of those LULUs are not distributed randomly, as well.
 Therefore, he explained, government agencies must
 develop  targeted  enforcement and intervention
 strategies to begin to eliminate the health disparities
 that   affect  people  of  color  and low-income
 communities.

 Turning his attention to the response by government
 agencies  to  these  problems,  Dr.  Bullard
 acknowledged that EPA  has responded to  many
 communities.  However,  he  also pointed out that
 EPA  "cannot do it all."   Dr.  Bullard  called  for
 extensive interagency cooperation and collaboration,
 not only on the part of Federal agencies, but also on
 the part  of state agencies and local and county
 health departments.

 Concluding his remarks, Dr. Bullard stated that,
 when a community strategy is developed for pollution
 and disease prevention, the community must be at
 the forefront.  He also noted that there remain many
 data gaps and that it is  not sufficient for government
 agencies to say, "Well, we just don't know that."
 Government agencies, he stated,  must pursue a
 strategy   for   intervening  and  preventing
 environmental health  hazards and environmental
 degradation.  Because environmental justice and
 public health are intertwined, he said, it is important
that the NEJAC focus on community health and  the
 role of communities in solving and resolving such
 problems.

 Dr. Patrick Kinney, Division of Environmental Health
 Sciences, Columbia University School  of Public
 Health, explained that he would provide an overview
 of Columbia University's growing involvement in
 community-based participatory research.  He stated
 that, when universities develop research proposals,
 the community should be brought into the process
 immediately. Dr. Kinney stated that some of the best
 ideas  — from both a scientific and  a community
 perspective — for conducting research arise from the
 community because members of the community are
 in a better position than  outside researchers to
 understand what the issues are.  Dr. Kinney then
 acknowledged the efforts of the NIEHS in initiating
 two programs. The first, the Environmental Justice
 Research  Community Outreach  and Education
 Program, he explained provided an infrastructure for
 the conduct  of community-based research.  The
 second,   he  continued, was  the  solicitation  of
 proposals  for environmental  health  centers that
 focus specifically on community-based problems.

 Dr. Kinney then discussed the process of conducting
 community-based research. He explained that the
 process  is fairly simple and should  provide clear
 benefits to both the community and the researcher.
 An advantage for the community is that the project
 should provide science and data that can be used to
 advocate policy and help provide funding to  train
 young people and educate the wider community. Dr.
 Kinney also identified some useful mechanisms for
 promoting community-based research, including:

 •   Obtain small scale funding to form partnerships
    to generate initial data.

 •   Ensure   the   availability   of  ongoing  and
    dependable long-term funding because it takes
    time  to  develop  partnerships   between
    researchers and the community.

 •   Consider  soliciting support  from   various
    agencies to fund centers that specifically focus
    on community-based participatory research.

•   Provide funding  to train  undergraduate  and
    graduate students to focus on community-based
    environmental health problems.

Mr.  Richard  Moore,  Southwest  Network  for
Environmental and Economic  Justice and former
chair of the Executive Council of the NEJAC, offered
a grassroots community perspective on community-
based  health research and  environmental justice.
He began by  explaining that all stakeholders must
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 Executive Council
      National Environmental Justice Advisory Council
understand  that,  when  the  relationship between
environmental justice and health is discussed, the
concepts of health and environmental justice cannot
be separated  because they are  inclusive of one
another. Therefore, Mr. Moore explained further,
when  addressing  the  effects  of  industry  on
communities from a health standpoint, one would
see cancer  clusters and children being born with
severe deformities.  Mr. Moore also declared that it
is an insult to people of color  and low-income
communities when scientists and researchers cite
the causes of  such illnesses as a person's diet or
level of education.

The reality of the situation, Mr. Moore declared, is
that low-income communities and people of color are
being poisoned and that the integrity of communities
is being challenged by the scientific community,
which blames their poor health on the food they eat.
Mr. Moore then explained that communities have
been conducting their own research as it related to
the health issues for many years.   Members of
communities have  gone door to door in their
neighborhoods identifying  the  symptoms  and
illnesses of each resident in an affected area, only to
have the research rejected by government agencies
as illegitimate. Mr. Moore stated that he wished to
make it very clear  to government agencies that
communities are "tired"  of  having their research
rejected.    Mr. • Moore  explained  that  such
communities do not want to be treated differently,
they just want to be treated fairly.

Ms.  Vernice  Miller-Travis,  Partnership   for
Sustainable Brownfields Redevelopment and chair of
the Waste and Facility Siting Subcommittee of the
NEJAC, thanked  the panelists for providing the
introduction to the development of community-based
environmental  health models.  She added to  Dr.
Kinney's  presentation   about  the  partnership
established between Columbia University and West
Harlem  Environmental Action, Inc. for community-
based research by noting that the partnership had
been  extraordinary; however, she  pointed  out,
success was not achieved overnight.  Ms. Miller-
Travis explained thatthe community of West Harlem
struggled for more then 10 years  before obtaining
support for its efforts. Ms. Miller-Travis stressed that
it  should not  take another  10  years  before
government   agencies   and   other  institutions
recognize that people in communities are dying.

Agreeing, Dr. Bullard explained that it was through
great  effort on the part  of many  grassroots
organizations  and   environmental  justice
academicians  working  with  NIEHS   that  the
community partnership and environmental justice
grant programs were developed  and the  agency
convinced  that  community-based  research  was
legitimate.  Also agreeing with Dr. Bullard and Ms.
Miller-Travis, Dr. Kinney stated that it had taken a
long time to attract the attention of scientists and
that, more broadly, it continues to take a long time to
convince the larger scientific community of the value
and  significance  of  community-based  health
research. Dr. Bullard then strongly recommended
that EPA reestablish funding for the  Community-
University  Grant  (CUP)  program   to  continue
community-based projects.

Ms. Augustine expressed outrage at the cost in low
productivity  and illnesses that is  attributable to
environmental  pollution.   She  also expressed
concern about poor communities that do not have
the resources to provide adequate  health care.
Many people do  not  have the  money to  buy
medicines, she pointed out. Ms. Augustine stated
that the NEJAC should begin to consider what kind
of health  care agencies can provide to people.

Mr. Lee agreed with the members of the panel that
community-based health  research is  an effective
method of  obtaining  the  type of data needed to
address environmental justice issues.  He also said
that the data would be instrumental in  building a
better understanding of the relationship between
environmental pollution and disease in communities
that are affected by environmental justice concerns.

3.2 Panel 2  - Lessons from  the Field:  What
    Strategies and Areas of Research Should Be
    Pursued  to  Achieve   More   Effective,
    Integrated   Community-Based   Health
    Assessment, Intervention, and  Prevention
    Efforts?

Mr. Lee introduced the second panel, explaining that,
since 1994,  a wealth  of experience related to
community-based health research in the area of the
environment has been accumulated. The panelists
would   present   their  experiences  and
recommendations for strategies for advancing the
development  of an integrated  community-based
health  assessment intervention and prevention
model, he continued.   Exhibit  1-11 presents the
problem statement that the members  of the panel
addressed.

Mr. Carlos  Porras,  Communities for  a Better
Environment  and  member of the  Health  and
Research Subcommittee of the NEJAC, focused his
presentation on three particular areas: conducting
community-based and driven research; identifying
and filling data gaps; and developing prevention and
intervention strategies from an organized community
perspective. He provided the results of the research
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 National Environmental Justice Advisory Council
                                 Executive Council
                                     Exhibit 1-11
       PANEL 2 - PROBLEM STATEMENT

  The Institute of Medicine report, Toward
  Environmental Justice: Health Research, Education
  and Policy Needs, concluded that "Environmental
  health sciences research can contribute to
  environmental justice most effectively by identifying
  hazards to human health, evaluating adverse health
  effects, and developing interventions to reduce or
  prevent risks for all members of society.
  Environmental justice research bears a social
  relationship to the communities being studied,
  requiring unusual degrees of collaboration if it is to
  be scientifically valid as well as policy relevant and if
  the findings are to be effectively implemented."
  Since 1994, a wealth of experience and knowledge
  with regard to community-based health research in
  the area of environmental justice has been
  systematically accumulated. Some focus on
  communication, partnerships, and capacity-building;
  others focus on community assessments; still others
  focus on intervention and prevention strategies. This
  panel of community-based practitioners will present
  recommendations based on their experience for
  strategies and targeted research that would most
  effectively advance at this time an integrated
  community-based health assessment, intervention,
  and prevention model.
he conducted in Los Angeles, California through the
award of a NIEHS grant to form a partnership with a
local  university.  Mr.. Porras, using  maps of Los
Angeles County, California, showed the members of
the NEJAC the locations of facilities  that  report
information to the TRI data base, a national data
base. Explaining that the TRI data base is only one
tool that he uses to show adverse effects, he stated
that such a national emissions inventory data base
does  not provide the complete picture of emission
releases in a community. The next step, Mr. Porras
explained, was to use data bases that contained
regional and  local  information  about  emission
releases for the area of concern. By closing data
gaps, Mr. Porras explained further, a community can
begin  to  build  an   argument  for  cumulative
exposures. Data gaps, however, still existed for the
area of concern, he explained.  Mr. Porras stated
that, to fill the remaining data gaps, members of the
community conducted a physical inventory for which
community  members  "walked   the  streets"  to
document and list everything in a quarter-mile radius
of the  area of concern.   Community members
discovered, Mr. Porras continued, that 70 percent of
the industries and facilities located in the area were
 not reporting any information to a regulatory agency.
 On the basis of its research, the community was able
 to convince the South Coast Air Quality Management
 District to reevaluate its policies related to threshold
 levels for toxics.

 Concluding his comments, Mr. Porras commended
 EPA and the  other agencies participating  in  the
 meeting of the NEJAC. However, he reminded the
 Federal agencies and the NEJAC,  environmental
 justice communities are not yet treated equally.  He
 stated  that   government   programs   being
 implemented  are  market-based, expressing  his
 concern that the "market" has never been sensitive
 to poverty.

 Ms.  Katsi  Cook,  Akwesasne   Mohawk Nation,
 stressed the importance of continuing to hold
 meetings, such as that of the NEJAC, to discuss
 issues and find solutions  to health problems.  She
 explained that  Akwesasne is one of the many
 communities of the Mohawk Nation that straddle the
 U.S.-Canadian  border at the 45th  parallel.   She
 explained further that tribal communities use their
 relationship to the natural world as a  source of their
 health  and well-being.    Ms. Cook  stated  that
 indigenous  peoples see  how,  in  this  industrial
 society,  those  relationships are being severed by
 toxic contamination of the natural  world and of
 human  beings.    She  also  stated  that   the
 contamination of the natural world reflects yet one
 more  compromise  of  the rights of indigenous
 peoples.

 Continuing, Ms. Cook informed the NEJAC that, in
 1983, EPA designated her community a Superfund
 site because of contamination with polychlorinated
 biphenyls (PCB) that  had  been  dumped.   She
 explained that  her community  began  to  make
 connections with academia and state institutions to
 form  partnerships  to address the adverse health
 effects the contamination was causing.

 Ms. Cook then discussed one of the principal
 strategies  that was  used  in  Akwesasne,   a
 multidisciplinary approach to  the conduct of the
 research. She explained  that wildlife pathologists,
 epidemiologists, and biochemists had investigated
the contamination of the food chain with  toxics.
 Expressing agreement with Mr.  Porras, Ms. Cook
stressed that agencies must work together, making
 use of  each  agency's  expertise,  to  focus  on
addressing  and   preventing-  environmental
contamination in environmental justice communities.
She also explained  that,  under  an environmental
justice   grant   from  NIEHS,  the  Akwesasne
community had been able to establish a partnership
with the University  of Albany to investigate • the
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                                                      National Environmental Justice Advisory Council
relationship of human health and toxic contamination
and the effect of such contamination on the way of
life of an indigenous people.

In addition, Ms. Cook emphasized that government
agencies must better understand principles related
to environmental justice and how those principles
can  maintain the  sustainability of communities.
Further, Ms. Cook strongly encouraged EPA to
refund the CUP grant program to further community-
based  research.   She concluded her  marks by
encouraging EPA and other agencies to look beyond
"what is hot in  science" and provide funding for
efforts  that  are  significant and  meaningful to
communities.

Dr. David Carpenter, University of Albany, School of
Public  Health,  informed the  NEJAC that the
University of Albany  and  the New  York  State
Department of Health have  been working together
since the  mid-1980s,  he  pointed out, before the
terms "environmental justice"  and "community-based
research" became popular.  He explained that the
Akwesasne community is located on a relatively
small reservation on the St. Lawrence River in New
York. Continuing, he explained that, in addition to a
former General Motors foundry site adjacent to the
reservation, two aluminum  foundries are  located
upriver from the  reservation.   Continuing,  Dr.
Carpenter explained that all three facilities had used
PCBs  in  hydraulic fluids and that the fluids had
caused contamination  of  the traditional fishing
grounds of the Mohawk Nation.

He explained that it is important to communities to
have information so that they can make decisions for
themselves, for  example, information that explains
which species of fish may not exhibit high levels of
PCBs.    Dr.  Carpenter noted that,  when  state
agencies made recommendations, the elders and
chief of the  tribe advised the community to stop
eating fish, and the community did so~at a price to
their culture, he pointed  out,  but  nevertheless
resulting in improvement in their health.

Continuing  his   discussion,   Dr.   Carpenter
emphasized the great value of the experience of the
academic community and the community affected by
environmental contamination working together and
sharing information. Dr. Carpenter then pointed out
three basic principles for achieving successful work
between the academic community and the affected
community:

•   Respect:  Respect is recognizing the humanity
    of  individuals,  as  well  as understanding that
    people in the community have a better sense of
    the health problems the  community faces.
•   Equity:  Equity means that, if a researcher is
    going to  collaborate with a community,  the
    researcher should truly involve the community by
    employing members of the community and
    training them to work on the project.

•   Empowerment:  Empowerment means that a
    researcher works  toward the  goal of  being
    "unnecessary" to the community because the
    researcher should be providing the community
    with the tools necessary to take charge of their
    own affairs.

Concluding  his remarks, Dr. Carpenter emphasized
the urgency of addressing environmental justice
issues related to PCB contamination. He explained
that the issue of subsistence fishing in waters
contaminated with PCBs affects African-American
communities in urban areas, as well as indigenous
peoples in rural areas.  While  PCBs do not cause
immediate death, he added, the chemicals do cause
cancer,  disrupt the  immune  system, and cause
learning disabilities among children.  In conclusion,
Dr. Carpenter stated that communities must be
informed so that they can make their own decisions
about their health.

Dr. Ray Campion, President, Mickey Leland National
Urban Air  Toxics  Research  Center,  began his
presentation by providing a brief overview of his
organization.  He explained that the center was
authorized under the Clean Air Act Amendments of
1990 (CAAA) to provide data to EPA to conduct risk
assessments for  monitoring controls that had been
in place for 10 years for air toxics. Dr. Campion then
explained that all research conducted at the center
is thoroughly peer reviewed to ensure acceptance by
the scientific and medical public health communities
and, more important, in court cases. He explained
that most of the nine studies the center currently was
undertaking are community-based efforts. The focus
of the studies, he continued, is the development of
methodologies to assess "personal" exposures to
various contaminants.

Continuing, Dr. Campion explained that the center's
support base is a congressional appropriation as
part of the budget of EPA's ORD. He added, that, to
date, the relationship between  the center and EPA
had been  positive and that  the research of the
organizations had been complimentary.

Dr. Marinelle Payton,  Harvard School of Public
Health and chair of the Health  and Research
Subcommittee of the NEJAC, thanked the panel
members fortheir valuable advice about the need for
community-based environmental health research.
She asked each panel member  what areas of
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                               Executive Council
research each would consider to be important to
further  pursue a  more  collaborative  integrated
community-based health  assessment intervention
and prevention program.

In response, Dr. Campion noted that he believed that
the research area related to personal exposure was
an important methodology for analyzing air quality
that is consistent with  public health effects.  Dr.
Campion also noted that the use of devices that are
user-friendly in his experience had  been a key to
success. He also stressed the need to provide the
results of community-based health research back to
the community that is being studied. Dr. Carpenter
responded  that  additional  emphasis  should be
placed  on  conducting  research on children  to
determine  long-term   effects  of  environmental
contamination.

Mr. Porras  explained that conducting community-
based environmental health assessments would
prompt other areas of research that are necessary
and crucial in assessing the health of a community.
He also remarked that it was important to recognize
the limits of science and that data gaps exist.

Dr. Michel Gelobter, Rutgers University and chair of
the Air and Water Subcommittee of the NEJAC,
asked  how  peer  reviewers in  the   scientific
community view community participation in research
and, on behalf of the communities, what kind of
community  review  was necessary.   Dr. Campion
responded that the question Dr. Gelobter had raised
has been very difficult to resolve. He explained that
many scientists continue to be suspect of involving
members of the affected community during reviews
of data collected because of the fear that  the
community members would come to the table with
their minds made up. He stated that many scientists
also do not feel comfortable allowing communities to
participate during the formulation of a study because
the view of the  scientists is that the community
already has drawn its final conclusion.

Dr.  Carpenter responded that he  would take a
slightly different  point of view on  Dr. Gelobter's
question. Dr. Carpenter agreed that the "average"
academic does  not relate to community-based
research; however, he stated, government agencies
should require the involvement  of the affected
community as a criterion for obtaining funding.  He
also noted that community-based research need not
"cut corners" related to scientific methods. He then
stated his belief that no one is advocating that the
quality of research be compromised. In conclusion,
Dr. Carpenter commented that research should be
conducted in a way that  encourages the community
to "buy-in" to the effort and supports the application
of contemporary research criteria in the resolution of
problems that are of concern to the community.

Mr.  Tseming  Yang, Vermont  Law School  and
member of the International Subcommittee of the
NEJAC,  asked when the  panel members would
believe that enough research had been conducted to
perform  a valid analysis  of the situations.  Dr.
Carpenter responded thatthe question is, when does
research translate to intervention, which he stated he
believes  is  a very important  question  because
"enough" data never would be collected.  However,
he said, there would be a point at which intervention
activities become crucially necessary. Dr. Carpenter
stated that, many disadvantaged communities have
an urgent need for intervention, and that intervention
should not be delayed until all the research has been
completed.

Ms. Shepard commended  Mr. Porras for showing
the members of the NEJAC how he was able to use
his  research and data to  influence public policy
related to his community. She then asked whether
other panel members had had similar experiences in
how data collected through a  community-based
approach had an effect on policy. Responding, Dr.
Carpenter explained  that many  scientists believe
there is a line between being a scientist and being an
advocate for policy changes. Many scientists, he
continued, are fearful of losing funding and being
labeled  as  advocates  rather  than  "objective"
scientists. He expressed his belief, however, that
scientists have a responsibility to document health
effects to place pressure on  government agencies to
find solutions to such problems.

3.3 Panel 3 - Socioeconomic Vulnerability: How
    Can Consideration of Socioeconomic Status
    and  Cultural Factors: (a) Contribute to a
    Better Understanding of Health Disparities
    and   Cumulative   and  Disproportionate
    Environmental  Effects   and   (b)  Be
    Incorporated   into  Community   Health
   Assessments?

Mr. Lee explained that Panel 3 would discuss the
relationship between physical and Socioeconomic
factors as important elements  in  understanding
cumulative risks and health disparities. Exhibit 1-12,
on page  1-18,  describes the  problem statement
examined by Panel 3. Mr.  Lee also informed the
members of the Executive Council that  OEJ, in
collaboration with representatives of industry serving
on the NEJAC,  had searched extensively for  a
panelist representing the industrial sector. However,
Mr. Lee explained, that industry has not focused on
that  area of research.  Ms. Samara Swanston,
Atlanta, Georgia, May 23 through 26,2000
                                                                                          1-17

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Executive Council
      National Environmental Justice Advisory Council
                                    Exhibit 1-12
       PANEL 3 - PROBLEM STATEMENT

  Reduction of health disparities by the year 2010 is a
  significant national goal. The goal is potentially
  relevant for minority, low-income, or indigenous
  communities that suffer health disparities that may be
  the result of, or be exacerbated by, exposure to
  environmental pollutants and certain racial, ethnic,
  and socioeconomic vulnerabilities. How does
  socioeconomic vulnerability contribute to health
  disparities or disproportionate environmental effects
  in environmental justice communities? This panel
  will explore the extent to which socioeconomic
  vulnerabilities might be incorporated into community
  health assessments for populations already suffering
  health disparities.  Panelists will make
  recommendations about research priorities for the
  development of policy in areas of socioeconomic
  vulnerability, cumulative risk, and disproportionate
  environmental effects.
Executive Director, Greenpoint-Williamsburg Watch
Project,  informed  the   subcommittee  that
socioeconomic vulnerabilities, health disparities, and
disproportionate  environmental   health   effects
strongly resonated in her community, Greenpoint-
Williamsburg, Brooklyn, New York, a community of
color.   She  explained  that the  measures most
commonly used to evaluate socioeconomic status
are income, education,  and occupational prestige;
however, she pointed out that such measures are
limited  in that  they do  not  capture  significant
components  of  social  stratification that . could
influence health status.  She then identified other
measures of socioeconomic status, including the
conditions   in   which  an   individual   lives;
intergenerational  transfers  of   wealth,   since
inheritance of wealth occurs less frequently among
minorities; and  race.   Ms. Swanston  explained
further that socioeconomic status does not have the
same meaning in communities of color as it does in
other communities. For example, she said, racism
affects the quantity and quality  of medical  care
received. Continuing, she reported that studies have
shown that African-Americans  and other minorities
are twice as likely as white Americans to receive
routine  medical care  in  hospital  clinics  and
emergency rooms where it is impossible to see the
same care provider for each  visit; therefore, she
said, they cannot achieve continuity of medical care.

Ms. Swanston also noted that racism directly affects
the health status of minorities,  as shown in several
studies  that established an association between
reported racial  discrimination  and hypertension.
According  to  experts  on cancer, socioeconomic
status plays a role in the use of various screening
tests; higher socioeconomic status was correlated
with more frequent use of screening tests and more
aggressive therapy and therefore, a greater chance
of surviving cancer.  Ms. Swanston also stated that
socioeconomic status  plays a role in obesity that
could  lead to  diabetes, and  that a variation in
utilization rates among socioeconomic groups is
connected  strongly to health status.  For example,
Ms.  Swanston stated, diabetes  was  nonexistent
among the Native American population until many
members of that population were forced to change
their  traditional diets  because  of the effects of
pollution and relocation.

Continuing, Ms. Swanston explained that poverty
and  the lack  of  health  insurance  (because of
poverty)  also increase the risk of health disparities.
She also pointed out that poverty exposes people to
environmental  pollution in a variety  of ways that
generally are not recognized. As an  example, Ms.
Swanston noted that poor people often heat their
homes with kerosene heaters, a practice that results
in a substantial increase in indoor concentrations of
particulate matter, sulfates, and nitrates.

Referring to a  1998 report released  by HHS,  Ms.
Swanston pointed out that  the  report found that
health in America is tied unambiguously to income
and education.  The report found that adults who
have less education die at a younger  age and have
higher death rates for all major causes of death, she
said.  Noting that socioeconomic status influenced
the health of children, the report stated that low birth
rate and  infant mortality rates are higher among the
children of  less educated mothers, she explained.
Ms. Swanston also discussed a NIEHS study of 314
children, of  whom 88  percent were  African-
American, 9 percent were Hispanic, and 2 percent
were white. The study, she continued, found that the
calcium intakes of African-American  and Hispanic
children  were  significantly   below  the   daily
recommended  levels.   She noted  that  the  low
calcium intakes were in part attributable to lactose
intolerance, a condition reported by many African-
Americans.    She  noted further that nutritional
deficiencies are a result of poverty and that such
deficiencies increase the  effects of  exposures to
pollution. Poor diet during childhood  likely was not
overcome  by   the  achievement  of  a  higher
socioeconomic status  later  in life, she observed
further.

Ms. Swanston also stated that racism  plays a role in
disparate exposures. She stressed the importance
of the community that people lived in and stated that
cultural barriers, as well as language barriers, race,
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 National Environmental Justice Advisory Council
                                 Executive Council
 gender, location  of residence,  and  location of
 workplace, should be  considered  in determining
 socioeconomic status.

 Dr. Walter Handy, Cincinnati Health  Department,
 expressed  agreement  with Ms.  Swanston  that
 people for whom  the rates of death, illness,  and
 disability are  higher  than  those  among  other
 segments of the population tend be concentrated in
 the poorest enclaves of society and that that pattern
 had  been  observed  in  communities around  the
 world.  He noted  that the observations made by
 researchers revealed that inadequate medical care,
 low income, poor health habits, unemployment, race,
 and hazardous living conditions are factors related to
 the relationship of poverty and disparate health
 effects.  Dr. Handy noted that social  support  and
 coping style also may offer "keys" to examining the
 most difficult social contexts of health status, as well
 as lead to the development  of  more  effective
 partnerships to reduce pollution and identify effective
 coping strategies and social support mechanisms
 among residents of such communities.

 Continuing, Dr. Handy noted that prevention theory
 and the construct of  public health practice  are
 inventions of the twentieth century, both of which rest
 on three elements, "what  we  believe causes ill-
 health, how we measure  health,  and who gets
 measured for health." He remarked that the models
 used to develop and analyze prevention and public
 health principles and practices have grown  more
 complex as scientists have come to understand the
 greater complexity of the relationships that affect
 health outcomes. In addition, Dr. Handy explained,
 the scientists' beliefs about the causes of death and
 health status have become more complex as well.
 Where as an  individual's health status once may
 have been identified as dead or alive, he pointed out,
 that status now can be described through concepts
 such as morbidity,  comorbidity, disability, wellness,
 quality  of   life,  socioeconomic  behavior,   and
 environmental health.   Because of  those  new
 concepts, Dr. Handy stated, government agencies
 and other health organizations now think in terms of
 risk factors. Prevention, he continued, as a way of
 viewing public health, emerged from dissatisfaction
 with the effectiveness of available treatment options.

 Turning  his  attention   to  issues  related   to
 environmental justice and public health, Dr. Handy
 stated that the intent of incorporating socioeconomic
 vulnerabilities into community health assessments
 for populations already suffering health disparities
 was to prevent disparate effects. During discussions
 about enforcing Title VI  in the area  of addressing
 and preventing disparate effects on  health,  Dr.
 Handy noted,  a number of options  have been
 considered,  such  as  primary  and  secondary
 prevention efforts to prevent industry from polluting
 excessively by requiring industries to comply with
 existing permitting laws and prevent such situations
 from occurring. For some, however that option is not
 sufficient, he stated.  He noted further that many
 such options had been built upon risk assessment,
 describing one  option developed by Mr. Jerome
 Baiter, Public  Interest  Center  of  Philadelphia,
 Pennsylvania. Dr. Handy stated that,  in  May 1998,
 Mr. Baiter  developed an  environmental justice
 protocol for EPA to use in the Agency's guidance on
 the implementation of Title VI. Dr. Handy stated that
 the protocol used available health statistics, such as
 age-adjusted total mortality, cancer mortality, and
 infant mortality rates. He explained that Mr. Baiter
 had proposed to  use the health statistics as an
 alternative to risk  assessment as a simple way of
 understanding the health status of a community, and
 allowing local and state agencies to make permitting
 and siting decisions on the basis of that information.
 He also described another alternative, comparative
 risk analysis, that uses scientific information  and
 "blends" the  values  and attempts to  render
 community  decisions  about  environmental  and
 health factors.

 Dr. Handy concluded his presentation by providing
 the following research and policy recommendations
 to the NEJAC:

 •   Acknowledge that the number of problems that
    face communities are excessive and too large
    for a single stakeholder  group  to  address;
    therefore, options for collaboration and training
    to allow stakeholder groups to  work  more
    effectively together should be developed.

 •   Observe people who have developed effective
    social systems and coping strategies that have
    seemed to "inoculate" themselves against some
    of the  adverse  health effects  caused by
    environmental contamination.

•   Examine the notion of the interaction of sources
    of morbidity or ill  health, such as mental health
    problems associated with  lifestyle choices or
    work or family settings that  are  likely to be
    exacerbated   by  physical  health  problems
    (diabetes, cancer, and a variety of other health
    problems), which  in turn are  intensified by
    pollution.

•   Increase research efforts to develop baseline
    data to be used in protocols that can be applied
    to permitting decisions.
Atlanta, Georgia, May 23 through 26,2000
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      National Environmental Justice Advisory Council
Mr.  Michael  Callahan,  EPA  Cumulative  Risk
Technical Review Panel, announced EPA's intent to
establish guidelines for conducting cumulative risk
assessments. He explained that the cumulative risk
assessment guidelines are divided into two parts,
one for developing a framework document  for
cumulative risk and the second for developing the
guidelines  for  conducting   a  cumulative  risk
assessment.  Mr. Callahan defined cumulative risk
as the combined risks from two or more agents or
stressors, with repeated exposures overtime, effects
of prior and current exposures, and the effects of
one stressor on the toxicity of another.

Continuing, Mr. Callahan also explained that this
document would be scientific rather than a policy
document.   He explained that cumulative  risk
approaches require a different mindset than  do
traditional  risk assessments.   Historically,  Mr.
Callahan stated, when EPA was created in 1970,
pollution was more  visible.  The main goal  of the
Agency, he said, was to stop the entry of the
pollution into the environment, a chemically-focused
assessment.  Cumulative risk is a different type of
operation; it is a population-focused assessment, Mr.
Callahan pointed out. He noted that EPA and other
government  agencies must develop  new and
efficient approaches for collecting the  necessary
data to conduct cumulative assessments.

Another challenge, Mr. Callahan observed,  is the
concept of vulnerability, not only as asocioeconomic
factor but as a biological factor, as well. Describing
vulnerability, Mr. Callahan explained that different
people who undergo the same rate of exposure to
chemicals respond differently. He stated the issue
arises  in cumulative risk assessment, rather than in
the traditional approach.

Concluding his remarks, Mr. Callahan stated that the
framework document should be available for review
by September 2001. He requested that the NEJAC
participate in the development of the document.

Ms. Miller-Travis asked whether the cumulative risk
assessment framework document will give EPA the
ability  to address and investigate the concept of
synergistic effects  of cumulative and  multiple
chemical exposures.  Responding to Ms.  Miller-
Travis, Mr. Callahan  noted  that cumulative and
multiple chemical exposures would be a major focus
of the guidance documents. . Dr. Fisher  asked
whether the framework document would include the
full life span of exposures, such as the fetal stage
and breast feeding, to focus on exposures children
face.   Mr.  Callahan noted  that  the guidance
documents would discuss the issue in the sense of
special  populations that  differ from the average
adult.

Ms. Patricia Hill Wood, Georgia Pacific Corporation
and  member  of  the Waste and  Facility Siting
Subcommittee of the NEJAC, asked  Dr.  Handy
whether he had identified a list of key factors that
were  crucial  for  the baseline data  needed to
understand public health concerns. In response, Dr.
Handy  explained  that Mr.  Baiter's protocol on
environmental justice was built on an assumption
that local  and state public health agencies have
"research-grade" health statistics; however, he said,
most  health departments do  not possess such
statistics. He explained that different physicians may
have  different tendencies  toward  diagnosing a
particular illness as primary, secondary, or tertiary.
To obtain good health statistics, Dr. Handy stated,
interaction among physicians is necessary to provide
uniformity so that diagnoses can be analyzed across
a population rather than only in individuals.  As a
follow-up question, Ms.  Wood asked  Dr.  Handy
whether there were any efforts underway to reach a
consensus among members of the medical public
health community about the baseline data, to which
Dr. Handy replied that he was not aware of any such
results.

Mr. Whitehead asked the panel whether a study has
been  conducted on the  relationship of diet  and
chemical exposures.  Ms.  Swanston noted that diet
and chemical exposure are interrelated,  stating that
a good diet may  not prevent deadly diseases;
however, the poor diet that results from poverty may
increase a person's susceptibility to diseases from
environmental exposures, she said.

Mr.  Goldtooth  asked Mr.  Callahan  how  the
framework  document for  the  cumulative  risk
assessment would capture the cultural and spiritual
values of American Indian and Alaskan Native tribes.
Mr.  Callahan responded  that stressors such as
cultural issues would be addressed in the document,
most  likely as  an area  that requires additional
research.  Dr. Handy added  that  a fair amount of
research has been conducted on  psychological
stressors that can produce changes  in the  body's
physiology that increase the individual's susceptibility
to chemical agents.
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 National Environmental Justice Advisory Council
                                Executive Council
 3.4 Panel 4  -  Key  Federal Initiatives:   What
     Strategies   Should   Be   Developed,
     Implemented, and Evaluated so as to Insure
     Substantial  Participation,  Integration, and
     Collaboration  by  Federal  Agencies,  in
     Partnership with  Impacted Communities;
     Public Health, Medical, and Environmental
     Professionals;   Academic  Institutions;
     Philanthropic Organizations; State,  Tribal,
     and Local  Governments;  and  the Private
     Sector?

 Introducing the fourth panel,  Mr. Lee stressed the
 need for increased coordination and collaboration
 among Federal agencies to address public health
 issues in environmental justice communities. Panel
 4,  he  pointed out, is made  up senior officials of
 various Federal agencies that address public health
 issues who were to discuss the types of strategies
 needed to  resolve  these  issues.   Exhibit  1-13
 describes the problem statement Panel 4 addressed.

                                    Exhibit 1-13
       PANEL 4 - PROBLEM STATEMENT

  This panel will offer perspectives of senior officials
  of the U.S. Environmental Protection Agency and
  other Federal public health agencies. The officials
  will provide overviews of their respective agencies or
  office's efforts to address environmental justice and
  community-based public health needs.  During this
  session and throughout the meeting of the National
  Environmental Justice Advisory Council, they will
  explore recommendations for determining what
  strategies should be developed, implemented, and
  evaluated to ensure participation, integration, and
  collaboration by Federal agencies in partnership with
  all affected stakeholders.
Dr. Henry Falk, Assistant Administrator, ATSDR,
noted that he had met with the Health and Research
Subcommittee of the NEJAC during its December
1999 meeting to discuss some of the activities being
conducted   at  ATSDR  that   are  related  to
environmental justice.

Dr. Falk provided a brief  overview  of ATSDR by
explaining that ATSDR is headquartered in Atlanta,
Georgia and works closely with  EPA, because the
agency was  created  under the  Comprehensive
Environmental  Response,  Compensation, and
Liability Act (CERCLA).  Therefore, the mission of
the agency is to work with EPA to resolve  health
 issues related to Superfund and other hazardous
 waste sites.

 Turning his attention to the charge of the panel, Dr.
 Falk explained that he would address the questions
 posed  in terms of the strengths and limitations of
 ATSDR in addressing environmental justice issues
 related to public health.  In terms of strengths, Dr.
 Falk expressed his belief that, because of ATSDR's
 focus on working on specific sites, the agency is well
 prepared to address community issues. Principles
 related to environmental justice, he noted, are woven
 into the fabric of ATSDR because, he said, 'There is
 no other way for us [ATSDR] to work at sites." Dr.
 Falk also  informed  the NEJAC about ATSDR's
 diverse workforce and the diversity training that is
 provided to staff.

 In  addition to  site activities,  Dr.  Falk  stated that
 ATSDR participates in scientific activities to build the
 agency's capacity to address issues that may arise
 at sites. For example,  he explained, ATSDR has
 developed community toxicology profiles and health
 education materials for communities.

 Describing the limitations of ATSDR  related  to
 addressing environmental justice, Dr. Falk explained
 ATSDR is a Federal agency and that change is not
 always easy.  However, many at ATSDR, he pointed
 out, attempt  to develop creative and resourceful
 strategies to address issues. Dr.  Falk also explained
 that the service ATSDR provides is not simple. For
 example, the agency provides services, exposure
 assessments, where the knowledge is  limited, he
 said. In addition, Dr. Falk pointed out the mandate
 of ATSDR is narrow in scope, for example, ATSDR
 cannot provide health care to communities.

 Concluding  his remarks, Dr.  Falk provided the
 following recommendations:

 •   Improve   how   Federal  agencies  develop
    partnerships with communities.

 •   Increase coordination and colloboration among
    Federal agencies to develop "holistic" solutions
    to public health issues.

 •   View ATSDR  as a catalyst for  developing
    solutions.

 Dr.  Charles Wells, Director of Environmental Health
 Services,  Office  of  Director NIEHS,  began his
 presentation by providing a brief overview of NIEHS.
 He noted that NIEHS is located in Research Triangle
 Park, North Carolina and that  its mission is to
 prevent disease  associated  with  environmental
causes  and to reduce the burden of such diseases
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Executive Council
      National Environmental Justice Advisory Council
by  defining  the  relationship  of  environmental
exposure and  adverse health effects, individual
differences in susceptibility to such exposures, and
changes in  susceptibility  with age.  Exhibit 1-14
describes the mission of NIEHS. He also noted that
the prevention of  disease is  one  of the  most
important services that a government agency can
provide to its citizens.  Dr. Wells then explained
NIEHS' definition of environmental justice.  NIEHS,
he said, empowers people who live in areas in which
there are  high concentrations  of  pollution,  by
providing them  information and  instruments  for
addressing those issues, while also providing them
with  technical   assistance directly  or  through
academic institutions in addressing problems that
result from pollution or other environmental issues.


                                     Exhibit 1-14
          NATIONAL INSTITUTE OF
    ENVIRONMENTAL HEALTH SCIENCES

  Human health and human disease result from three
  interactive elements: environmental factors,
  individual susceptibility and age. The mission of the
  National Institute of Environmental Health Sciences
  (NIEHS) is to reduce the burden of human illness and
  dysfunction from environmental causes by
  understanding each of those elements and how they
  are interelated. The NIEHS achieves its mission
  through multidisciplinary biomedical research
  programs; prevention and intervention efforts; and
  communication strategies that encompass training,
  education, technology transfer, and community
  outreach.
Because  communities  must develop  a  better
understanding of the effects and risks to human
health   from   exposure   to   environmental
contamination,  NIEHS decided to establish  new
mechanisms at the agency to educate the public
about environmental health  issues and to support
community involvement in  the identification  and
investigation of environmental health concerns, he
pointed out.   Dr.  Wells  explained  that NIEHS
conducts two types of research programs, public
health and translational.  Issues of environmental
justice  are  addressed  under  the  agency's
translational  research   programs,   he   said.
Translational  research  can be  defined  as  a
conversion  of  findings from basic,  clinical, or
epidemiological environmental science research into
information, resources, or tools that  health  care
providers  and community residents can  apply to
improve   public  health  outcomes   in   at-risk
populations, Dr. Wells explained.  He then identified
the  objectives  of  environmental  translational
research programs related to environmental justice:

•   Improve understanding  of  how physical and
    socioenvironmental factors affect human health.

•   Develop better means of preventing   health
    problems related to environmental conditions.

•   Promote partnerships among scientists, health
    care providers, and  community members  to
    address public health issues.

Dr. Wells  then  described  several translational
research programs at NIEHS that are related  to
community-based   prevention  and  intervention
research. He explained that the community-based
prevention and intervention research was developed
to implement culturally relevant prevention and
intervention activities in economicallydisadvantaged
and  underserved  populations  that are  affected
adversely by environmental contaminants. He noted
further that the program is intended not only to foster
the refinement of scientifically valid  intervention
methods, but also to strengthen the participation of
affected communities in decision-making processes
at NIEHS. Dr. Wells also stated that the community-
based prevention and intervention research projects
were designed to expand NIEHS' knowledge and
understanding of the potential causes and solutions
of disorders related to environmental conditions and
to enhance  the  capability  of communities  to
participate  in  the  development  of  research
approaches   and  intervention  strategies.    He
explained that the research projects are conducted
in a manner that reinforces collaboration between
community members and research institutions.  Dr.
Wells noted that, the relevant results therefore are
made available to the community in a clear and
useful manner.

Turning  his attention to  NIEHS' Environmental
Justice Partnership for Communications program,
established by NIEHS several years ago, Dr. Wells
explained that the program was established  to
"bridge" the communication  gap so that affected
communities would have a role in identifying and
defining  problems  and  risks  related   to the
community's environmental health.  He noted that
the research grant for the  program and  for the
environmental justice community-based program
were developed in a manner designed to empower
disadvantaged communities with resources to effect
healthful changes.

Dr. Jon Kerner, Assistant Deputy Director, Research
Dissemination and  Diffusion,  Division  of  Cancer
Control and Population Sciences, National Cancer
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 National Environmental Justice Advisory Council
                                  Executive Council
                                        Exhibit 1-15
         NATIONAL CANCER INSTITUTE

   The National Cancer Institute (NCI) leads the nation's
   fight against cancer by supporting and conducting
   ground-breaking research in cancer biology,
   causation, prevention, detection, treatment, and
   survivorship. Decades of work by scientists
   supported by NCI have produced real gains.  The rate
   of new cancer cases declined an average almost one
   percent each year between 1990 and 1996, while the
   cancer death rate fell, on average, 0.6 percent per year
   during that same period.  Powerful new technologies
   are enabling NCI to detect and diagnose more cancers
   at an earlier stage, before they have had the chance to
   spread. And many people who have cancer are living
   longer, and with a better quality of life.

   Even so, cancer continues to be a major health
   problem; for many Americans, it remains the most
   feared of diseases. In addition, the burden of cancer
   falls disproportionately on certain racial, ethnic, and
   socioeconomic groups. Although NCI has made real
   and lasting progress against the disease, it is crucial
   that NCI reach the ultimate goal of preventing and
   curing all forms of cancer.

   To more rapidly achieve that goal, NCI has
   developed the following plan:

   •   Sustain at full measure proven, productive
      research programs.

   •   Seize extraordinary scientific opportunities made
      possible by our previous research discoveries.

   •   Create and sustain mechanisms that build the
      capacity to allow the scientific community to
      apply rapidly evolving discoveries and emerging
      technologies for the benefit of human health.


Institute (NCI), began his presentation by providing
a brief overview of the organization of NCI. Exhibit
1-15 describes the mission of NCI.  Dr. Kerner
explained that all Federal  health  agencies face a
challenge   in  their efforts  to  eliminate  health
disparities.   Before discussing NCI's approach to
eliminating health disparities, Dr. Kerner expressed
his belief that conducting studies and research in
laboratories are  not "hard  science;"  it  is "easy
science." He explained that the studies conducted
in laboratories are relatively easy because there are
experimental controls.  When scientists "go out into
the real world," he observed, and work with people
who are being exposed throughout their life spans to
 many different factors, such as race, income, and
 education, that becomes hard science. Therefore,
 he explained,  one  of the  goals  at  NCI  is to
 understand the causes of disparities in cancer rates
 and to develop effective intervention strategies to
 eliminate those disparities.  Continuing, Dr. Kerner
 explained that NCI needs new centers for population
 research and should collaborate more closely with
 other government agencies to expand its ability to
 fund and monitor cancer-related health disparities.

 Concluding his  remarks, Dr. Kerner informed the
 members of the NEJAC about  a new initiative of
 NCI, CDC, and the American Cancer Society (ACS)
 that brings together the different strengths of  each
 organization to  better serve communities.  The
 program,  Translating  Research  Into  Improved
 Outcomes (TRIO), will focus on how agencies can
work  together to promote the  adoption of  good
scientific  evidence-based  cancer  control  and
 intervention at all levels, particularly in underserved
communities, he said.

Mr. Michael  Sage, Deputy Director, NCEH, CDC,
informed the members of the NEJAC that NCEH
works in the area of preventing disease and does not
conduct  efforts  to   control  disease,  except  in
emergency situations.  Exhibit 1-16 describes the
NCEH.

                                      Exhibit 1-16
  NATIONAL CENTER FOR ENVIRONMENTAL
                   HEALTH

  National Center for Environmental Health (NCEH)
  works to prevent illness, disability, and death from
  interactions between people and the environment.
  The agency is committed to safeguarding the health
  of populations that are particularly vulnerable to
  certain environmental hazards-children, the elderly,
  and people with disabilities.

  NCEH seeks to achieve their mission through
  science, service, and leadership. NCEH conducts
  research in the laboratory and in the field to
  investigate the effects of the environment on health.
  The agency tracks and evaluates environment-related
  health problems through surveillance systems.
  NCEH also helps domestic and international agencies
  and organizations prepare for and respond to natural,
  technologic, humanitarian, and terrorism-related
  environmental emergencies.
Atlanta, Georgia, May 23 through 26,2000
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Executive Council
      National Environmental Justice Advisory Council
Mr.  Sage explained  that  NCEH  focuses  on
environmental factors  that  may  affect  health
outcomes in people.  He remarked further that the
strength of the agency  lies in its division into four
areas: the Emergency  and Environmental  Health
Services Division; the Environmental Hazards and
Health Effects Division; the  Laboratory Sciences
Division; and the Birth Defects, Child Development,
and Developmental Disabilities Division. Mr. Sage
explained that the strength that each division brings
are related to biomonitoring efforts. He stated that,
over the past few years, NCEH has increased the
development  of  technology and  expertise  in
measuring substances in people. Over the next few
years, NCEH  plans to increase the effort to develop
the first national profile and possibly community-
based profiles of the exposure of people to various
substances.

Mr. Sage also stated that NCEH has broad expertise
in conducting epidemiological  studies and  the
application of community needs assessment tools.
He then  mentioned several  prevention programs
developed by NCEH, including  a childhood lead
poisoning prevention program and a national asthma
program.

Mr. Sage then noted several barriers  that  NCEH
faces in  working with  communities.  Mr.  Sage
explained that NCEH's funding is disease-and issue-
specific.   Funding  allocated for  lead poisoning
prevention cannot be used for any other issue, he
said.   He stated that,  because most  of NCEH's
programs are implemented through state and local
health departments, very few of NCEHs' efforts are
truly community-based.  Identifying a lack of effective
communication, Mr.  Sage explained further that
there is a lag time between translation of the science
and its use in  community education and prevention.
He also expressed his  concern  about the lack of
understanding of cultural issues at NCEH.

Mr. Sage then recommended broad-based funding
for CDC and state and local health departments be
encouraged, so that those entities would be able to
deal  with all  public health  concerns and with  the
relationships  among those  concerns.   He also
suggested the need to commit to program-specific
projects to address environmental justice concerns.
In addition, he recommended that NCEH  spend
more time and effort on issues related to developing
health communication   and .strategies  among
communities, other health agencies, and NCEH.

Mr. Michael Rathsam, Indian Health Services (IHS),
HHS, began his presentation by stating that IHS has
addressed environmental health disparities and has
provided direct health care services to tribes for 45
years.   He stated  that the  mission  of  IHS,  in
partnership with American Indians  and Alaskan
Native people, is to raise the physical, mental, social,
and  spiritual  health  of those populations  to the
highest level.  He also explained that the goal of IHS
was  to  ensure  comprehensive and culturally
acceptable personal and public health services are
available and accessible to all American Indians and
Alaskan Native people. Mr. Rathsam also explained
that the fundamental purpose of IHS is to uphold the
Federal government's obligation to promote healthy
American Indian and Alaskan Native  communities
and cultures and to honor and protect the inherent
sovereign rights of tribes.

Over the past 45 years, Mr. Rathsam stated, IHS
has  made significant progress  in  achieving  its
mission  and  goals.  Since 1955,  he continued,
ambulatory medical  care visits have increased by
1,200 percent, and, since 1973, infant mortality rates
have decreased by  54 percent.   He  also  noted
decreases  in mortality  rates  for  tuberculosis,
gastrointestinal   disease,  unintentional  injuries,
pneumonia and influenza, homicide, alcoholism, and
suicide.  However, despite such successes, he said,
health disparities still remain.  For example, Mr.
Rathsam pointed out,  life expectancy of  Native
populations is 71, five years less than the national
average; tuberculosis occurs  at a rate six  times
greater than the rate for all races; alcoholism occurs
at a  rate seven times greater than the rate for the
U.S. general population; the suicide rate is twice the
national average. In addition, Mr. Rathsam pointed
out that, in Indian country, there are 79 percent fewer
nurses, 60  percent fewer dentists, and 45 percent
fewer physicians,  compared with  the national
averages.  He identified several underlying causes
for such disparities, including the social and cultural
disruption  of  traditional Native societies,  lack of
education  and economic opportunities, and high
levels of unemployment and poverty.

Mr. Rathsam then provided a brief overview of IHS's
Office of Environmental Health and Engineering
(OEH&E),  which is  responsible  for  addressing
environmental   health   disparities   related  to
environmental justice in Indian country. Exhibit 1-17
describes the three divisions of OEH&E.

Turning  his attention  to the successes of IHS, Mr.
Rathsam explained that reducing health disparities
is  possible when basic public  health  programs
became a part of the infrastructure of a community.
For example, he noted, the percentage of Indian
homes that have safe water and sanitary liquid waste
disposal systems increased from 15 percent in 1955
to 90 percent in  1998 because of the determined
efforts of tribes and  IHS.  At  the same time, Mr.
1-24
            Atlanta, Georgia, May 23 through 26,2000

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 National Environmental Justice Advisory Council
                                Executive Council
                                     Exhibit 1-17
          INDIAN HEALTH SERVICES
  OFFICE OF ENVIRONMENTAL HEALTH AND
                ENGINEERING

  The Office of Environmental Health and Engineering
  (OEH&E) of Indian Health Services (IHS), U.S.
  Department of Health and Human Services (HHS), is
  responsible for addressing environmental health
  disparities related to environmental justice in Indian
  country. OEH&E has three divisions:

  •   The Division of Environmental Health Services
      provides expertise to tribes for environmental
      health programs that include indoor and outdoor
      air quality, toxic and solid waste management
      programs; community injury prevention,
      groundwater contamination, pesticides, food
      protection, and occupational health programs.

  •   The Division of Sanitation Facilities
      Construction is changed with the design and
      construction of water, sewer, and solid waste
      management systems.

  •   The Division of Facilities Engineering focuses
      on the construction and maintenance of IHS and
      tribal hospitals, clinics, and health stations.
Rathsam continued, the age-adjusted death rate
from  gastrointestinal disease  among  American
Indians and Alaska Natives decreased by 91
percent. In addition, in the mid-1980s, IHS assisted
several remote  and impoverished tribes in the
development of self-sustaining, fee-for-service, solid
waste management programs that provided door-to-
door  collection  service,  thereby  reducing the
opportunity for disease to spread from decomposing
waste dumped in residential areas, he said. Mr.
Rathsam noted that each of the programs he had
discussed continues to operate  successfully and
now as a stable component of the community's
infrastructure.

Continuing,  Mr.  Rathsam  discussed one   very
important  limitation  faced by  IHS, the lack of
complete funding. Mr. Rathsam then recommended
that more adequate, sustainable funding be provided
to further reduce health  disparity in Indian country.
He  cited  the  need for frequent  and  routine
communication, between tribes and agencies that
fund tribal  environmental  programs and  those
agencies   that  provide  direct  comprehensive
environmental health services. He also suggested
 that, to better use resources, Federal agencies avoid
 duplication of services.

 Dr.  Harold  Zenick,  Acting  Deputy  Assistant
 Administrator for Science, EPA ORD,  began his
 presentation by providing a brief overview of EPA's
 three interrelated elements. He explained that the
 first element of EPA is the Agency's program offices,
 such as the Office of Air and Radiation (OAR), Office
 of  Water (OW),  Office  of  Solid  Waste and
 Emergency Response (OSWER), and OPPT, that
 through  congressional and legislative mandates,
 have missions to carry out to ensure that people
 have clean water, air, and land.  He then stated that
 the second element of EPA is the Agency's 10
 regional offices that interact with the states and
 communities to  carry  out the  regulations and
 decisions that are developed at EPA.  Dr. Zenick
 then explained that the third element is  support
 offices, such as OECA, the Office of Information,
 and ORD.

 Dr. Zenick then noted that the various panelists had
 established that environmental factors are only one
 of the  many elements faced by communities that
 lead to health disparities. Other factors, he pointed
 out, include race and socioeconomic status.  Dr.
 Zenick expressed his belief that the ability of Federal
 agencies to effectively ensure healthy communities
 is dependent upon those agencies being able to take
 a more integrated  approach  to  examining  the
 dynamics among all factors. He also stated that it is
 essential that  the  public  health   and  medical
 community recognize that environmental conditions
 are a major ecological factor related to health status.
 Lacking that acknowledgment, Dr. Zenick continued,
 very little progress will be made in eliminating health
 disparities that are caused by environmental factors.
 He also stated that other key players must be
 engaged.

 For example, Dr. Zenick expressed his appreciation
 that the U.S. Department of Transportation (DOT) is
 becoming involved  more actively by including an
 environmental justice component in  its  decisions
 related to land use. He also stated that it is crucial to
 engage the U.S. Department of Housing and Urban
 Development  (HUD) to realize  its  mandate to
 address  environmental and health issues, as well.
 He also  stressed the importance  of  renewing the
 Federal   government's  commitment   to   and
 recognizing   the   inextricable   link  between
 environmental  health,  public  health,  and the
 provision of health care.

 Continuing, Dr. Zenick stressed the importance of
 conducting additional research and developing better
tools to increase understanding of issues related to
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 Executive Council
      National Environmental Justice Advisory Council
 public  health and environmental justice.   He
 recommended for consideration the development of
 a diagnostic action-oriented model, which, he noted,
 is not particularly different from the model currently
 in the medical community.  Under such a model, Dr.
 Zenick  explained, government agencies  should
 consider how to combine expertise when studying a
 community in an attempt to improve the health of the
 community.  Dr. Zenick  proposed developing  a
 "SWAT" team approach  under  which  a group of
 experts would work with the community to conduct a
 "diagnostic" test  of the community to determine its
 health status.

 Ms. Shepard asked the panel what types of methods
 of  interventions  truly work to  reduce  health
 disparities. In response, Dr. Kerner stated that CDC
 has  developed  many  intervention  strategies;
 however,  many  are not targeted  to underserved
 communities, he added.  He also commented that
 "community-placed" research interventions  do not
 work as well as "community-based participatory"
 research interventions. Dr. Wells also expressed
 agreement with  Ms.  Shepard,  noting  that the
 intervention programs and strategies of N1EHS were
 developed by  the community in concert  with
 academia or governments. In addition, intervention
 strategies developed without the participation of the
 affected  community  would  be  ineffective,  he
 observed.

 Mr. Rathsam remarked that the lessons IHS has
 learned  through preventing injuries   in  Native
 American communities were the necessity of sound
 scientific  data  collection  and analysis  and the
 importance of advocacy in explaining scientific data
 to the community. He also stressed the need for
 community mobilization or coalition-building and
 development  of intervention within the  community
 and the need for the  collection and analysis of
 scientific  data  to measure  the  success  of
 interventions.    Dr.  Falk  stressed  further the
 importance of dialogue between the communities
 and Federal agencies and the active participation of
the community.

 Ms. Augustine expressed her belief that ATSDR
should develop a better understanding of the  culture
 of the community that the agency interacts with. In
 response, Dr. Falk stated that he  recognized that
there are some situations  in which members of the
community are approached in a less than sensitive
way.  He made  a commitment to rectifying such
situations in the future.  He also noted the difficulties
that arise in  working  with  diseases  that have
 numbers of potential causes, and acknowledged her
concerns, and pledged better performance in future
situations.
 Mr. Cole expressed his appreciation that the various
 representatives of Federal agencies were present to
 discuss issues related to environmental justice. Mr.
 Cole also  expressed his concern that  the past
 policies and practices  of some of the  agencies
 represented had been barriers to social justice. For
 example,  Mr. Cole  pointed out,  ATSDR has  a
 credibility  problem  among  communities.   In
 response, Dr. Falk noted that ATSDR works with
 some   500  sites  around  the  country and
 acknowledged  that cases  might  arise  in which
 communities were not happy with the work done by
 ATSDR. Dr. Falk then stated, however, that he does
 not believe that to be the general prevailing situation
 throughout  the  country.   He  also   made  a
 commitment to correct such problems.

 Dr. Gelobter asked the panel members about the
 priority given to community-based research in their
 respective agencies and what importance is given to
 research that focus  on  communities affected  by
 disease caused by environmental contamination. In
 response,  Dr.  Zenick  explained  that EPA was
 attempting to challenge scientists in the Agency to
 provide a sense of the effects of the research being
 conducted  and   to  determine  whether any
 mechanism  had been established to distribute that
 information to consumers.  He also noted that EPA
 is building stronger relationships with its regional
 offices, since it is the regional offices that come into
 daily contact with communities and state officials. In
 addition,  he  explained,   ORD  established   a
 Community Science Council to review the work that
 the office currently is undertaking and to identify
 opportunities for  existing  programs  to benefit
 communities.

     4.0  REPORTS AND PRESENTATIONS

 This section summarizes reports and presentations
 related to a number of  issues the NEJAC had
 considered  in  its  deliberations during  previous
 meetings, as well as during the current meeting.

 4.1 Report  on  the Activities  of  the  U.S.
    Environmental Protection Agency Office of
    General Counsel

 Mr. Lee informed the members of the Executive
 Council that OEJ had invited Mr. James Nelson and
 Mr. Anthony Guadagno of the EPA Office of General
 Counsel  (OGC);  however, because   of flight
 cancellations,  neither was to  attend,   Mr. Lee
 explained. Mr. Lee also pointed out that it had been
 intended that the presentation serve as a follow-up
to issues discussed at the meeting of the NEJAC
 held  in December 1999 that focused on how to
 better integrate principles related to environmental
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 National Environmental Justice Advisory Council
                               Executive Council
 justice into permitting decisions.  On behalf of Mr.
 Nelson and Mr. Guadagno, Mr. Lee continued, Mr.
 Hill would provide information about the activities of
 OGC. Mr. Hill then reported that OGC is completing
 work on a legal memorandum that  examines the
 legal authorities under which OW, OSWER, and
 OAR operate to identify opportunities to consider
 environmental  justice   under  environmental
 regulations. The memorandum, he announced, was
 to  be available within a few weeks following  the
 meeting. Mr. Lee then reminded the members of the
 Executive  Council  that it has been the position of
 OEJ that issues related to environmental justice are
 not just an outgrowth of the Executive order on
 environmental justice but are "embedded" in  the
 statutes under which the  Agency operates.   He
 expressed his belief that the memorandum is an
 important milestone that will ensure that that position
 becomes a reality.

 4.2 Report  on  the  Activities of  the U.S.
    Environmental Protection Agency Office of
    Civil Rights

 Ms. Ann Goode, Director, EPA OCR, updated the
 members of the Executive Council on the status of
 the Title  VI Interim  Guidance  for Investigating
 Administrative  Complaints  Which  Challenge
 Permitting  Decisions  (Interim  Guidance).   She
 announced that within 7 to 10 work days, EPA was
 to  publish  in the Federal  Register the Agency's
 revised policies related to administering Title VI.

 Ms. Goode described the  process related  to the
 development of the new draft guidance documents
 by  explaining that the Agency had received more
 than 115 sets of written comments on the Interim
 Guidance  since the document was  released  for
 review in  February 1998.    In  March 1998, she
 reminded the members, OCR  had established a
 Federal advisory committee on Title VI under EPA's
 National Advisory Council for Environmental Policy
 and Technology (NACEPT).  She also noted that
 many members of the NEJAC also served on that
 committee.

 Ms. Goode continued the discussion by describing
 the various steps of outreach OCR had taken over
 the past year to obtain comments on the Interim
 Guidance  and  information   pertinent to it.   In
 September 1998, she explained, OCR had convened
 a small group of stakeholders to discuss  policy
 options  for  addressing   the  major  concerns
 expressed   by   stakeholders  related  to the
 implementation of the Interim Guidance.  OCR then
 had .solicited from individuals  in  that "mixed"
 stakeholder group comments about potential policy
options, she  said.   In October 1999, Ms.  Good
 continued, the first draft of the revised guidance was
 completed,  the  documents   having  undergone
 approximately eight or nine iterations since the first
 draft.

 In addition, Ms. Goode pointed out, OCR conducted
 a vigorous internal review process throughout the
 development of the guidance, and the documents
 have been reviewed by senior managers at the
 Agency. In addition, OCR also met with Mr. Bill Lann
 Lee, U.S. Department of Justice (DOJ), Civil Rights
 Division and Ms. Lois Schiffer, DOJ Environmental
 Division, on several occasions to ensure that the
 revised guidance  could be implemented.   Ms.
 Goode expressed her belief that EPA has listened to
 the concerns of all stakeholder groups throughout
 the revision process.

 Continuing, Ms. Goode informed the members that
 OCR has planned  a "robust" outreach process in
 conjunction with  the  release  of the new draft
 guidance  documents.  Once the  draft documents
 have been published in the Federal Register, she
 continued, a 60 day public comment period will be
 provided for citizens to offer comments  on the
 documents. The documents also will be available on
 the  OCR  Internet  home page, she  added.   In
 addition, before the  draft documents are made
 publicly available, OCR will conduct briefings  with
 members   of  Congress, the   NEJAC, and  the
 Environmental Council  of  the States  (ECOS) to
 ensure their "buy in" on the new draft documents,
 she said. Ms. Goode also assured the members of
 the Executive Council that OCR will mail hard copies
 of the documents to more than 3,000 stakeholders,
 using OEJ's mailing list. To answer and address
 concerns of stakeholders, OCR will hold five public
 listening sessions across the country, she continued.
 Ms. Goode made a commitment that she would
 attend as many meetings as possible to ensure she
 has  opportunity, and provides  to the  public,  the
 opportunity for dialogue in small group settings.

 Turning her attention to the differences between the
 Interim Guidance and the new draft documents, Ms.
 Goode explained that the primary difference is the
 physical layout of the documents. The initial Interim
 Guidance document was a 13-page document, while
 the revised document will be  approximately 100
 pages, she said. The increase in the size of the
 documents, she pointed out, was that result of an
 effort to be more responsive to concerns expressed
 by stakeholders about providing definitions about the
 processes by which EPA handles  complaints filed
 under Title VI.   Ms.  Goode then described  the
contents of the new draft documents. Exhibit 1-18,
on page 1 -28, provides a description of the new draft
documents. Ms. Goode stressed that OCR made all
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                                                                                                Exhibit 1-18
                             U.S. ENVIRONMENTAL PROTECTION AGENCY
                             TITLE VI OF THE CIVIL RIGHTS ACT OF 1964
                                        GUIDANCE DOCUMENTS

  On June 27,2000, the U.S. Environmental Protection Agency (EPA) Office of Civil Rights (OCR) will publish in the
  Federal Register two draft guidance documents related to Title VI of the Civil Rights Act of 1964 (Title VI). EPA
  will receive public comments for 60 days, until August 28, 2000.  The draft documents are titled:

      Draft Title VI Guidance for EPA Assistance Recipients Administering Environmental Permitting Programs
      ( "Draft Recipient Guidance ").

  •    Draft Revised Guidance for Investigating Title VI Administrative Complaints Challenging Permits ( "Draft
      Revised Investigation Guidance ").

  Title VI prohibits discrimination based on race, color, or national origin by any entity that receives Federal financial
  assistance. When entities (such as state environmental agencies) receive financial assistance from EPA, they accept
  the obligation to comply with Title VI and with EPA's Title VI implementing regulations.  Persons who believe
  recipients of EPA funds are administering their programs in a discriminatory manner may file an administrative
  complaint with EPA.

  In 1998, EPA issued its Interim Guidance for Investigating Title VI Administrative Complaints Challenging Permits
  ("Interim Guidance") for public comment. The Interim Guidance provided an initial framework by which EPA
  OCR processes complaints filed under Title VI  that allege discriminatory environmental and health effects from
  environmental (pollution control) permits issued by recipients of EPA financial assistance.

  EPA has revised the Interim Guidance on the basis of a robust stakeholder comment process, as well as the public
  comments received on the Interim Guidance. EPA convened an advisory group to provide recommendations and has
  conducted numerous meetings with a variety of stakeholders over the past two years.

  What is the purpose of the documents?

  The Draft Recipient Guidance is intended to offer suggestions to assist state and local recipients of EPA financial
  assistance develop approaches and activities that address potential concerns related to Title VI. Examples include
  fostering effective public participation; conducting assessments of potential adverse impacts; developing geographic,
  area-wide pollution reduction programs; and using informal resolution techniques. Recipients are not required to
  adopt or implement any of the Title VI approaches or activities described in the Draft Recipient Guidance.

  The Draft Revised Investigation Guidance describes procedures EPA staff may use to perform investigations of
  administrative complaints under Title VI that allege  adverse, disparate effects caused by permitting decisions.

  In response to comments received by EPA, the Draft Revised Investigation Guidance differs from the Interim
  Guidance by providing more detail and clarity.  The new guidance presents more detailed explanations of the various
  steps in an investigation and the actions that may be considered at each stage (such as, how it is expected a finding of
  adverse impact will be reached or when an allegation likely will be dismissed). In addition, both guidance
  documents define terms through examples and a glossary.

  More than 120 written comments on the Interim Guidance were received from a broad range of interested parties.
  Community groups, environmental justice organizations, state and local governments, industry, academia, and other
  interested stakeholders also contributed to the development of the draft guidance documents through the Title VI
  Implementation Advisory Committee established by EPA, as well as through many other meetings with stakeholders
  during the past two years.
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                                Executive Council
 possible attempts to make the documents as user-
 friendly  as  possible,  not  only  in  format  and
 organization, but also by using "plain English."

 The new documents also clearly outlines the step-
 by-step approach EPA uses to determine whether
 there will be an adverse impact,  she said.  The
 specifics of every case, Ms. Goode pointed out, also
 will be crucial in terms of allegations made by the
 complainant and the resulting facts unearthed by
 EPA's investigation.

 Ms. Goode concluded her  presentation by briefly
 reviewing the time frame for issuing final guidance
 on Title VI.  After the 60 day public comment period,
 Ms. Goode explained, OCR would  analyze  the
 comments  received and sign the  final guidance
 before the end of the current administration.

 Mr.  Whitehead expressed  his  concern that  the
 burden of proof continues to be placed on individual
 complainants to demonstrate that violations  are
 being committed by recipients of Federal funds.  Mr.
 Whitehead explained further that he believes EPA
 need not wait to investigate recipients of Federal
 funds until an individual complaint is received.  He
 also requested that information be provided to the
 NEJAC about the number of independent reviews
 the Agency has conducted  of a recipient's entire
 program  before waiting for an individual complaint to
 be filed with EPA under Title VI.

 Continuing, Mr. Whitehead also addressed the issue
 of the number of backlogged cases that OCR has
 not processed. He declared that EPA should not rely
 on guidance to enforce the law. He recommended
 that during the remaining months  of the current
 administration, the revised guidance be released,
 and decisions made about some of the cases that
 have been on the books for the past six to seven
 years.

 In response  to Mr. Whitehead's  concerns, Ms.
 Goode discussed three major points:  burden of
 proof, program compliance review, and the issue of
 backlogged Title VI cases. She stated that the new
 guidance is very clear  in stating that the burden of
 proof is on EPA. Continuing, she stated that it is not
 the burden of the complainants and that EPA has the
 responsibility relative to receiving information from
the complainant to determine  whether  Federal
 money is being spent inappropriately.  Ms. Goode
then addressed the concern related  to program
 compliance review, agreeing with Mr. Whitehead that
there have  been cases in which a complaint has
 been rejected; but, EPA has continued to receive a
 number of complaints in that area, suggesting that
there may be something "awry" in the program. She
 informed Mr. Whitehead that the new guidance also
 outlines EPA's  authority to  conduct reviews of
 delegated programs. Finally, Ms. Goode addressed
 the issue of backlogged cases, agreeing that the
 backlog is a very real problem and stating that the
 Agency is researching ways to increase resources to
 address the issue.

 Mr. Cole expressed his appreciation to Ms. Goode
 for attending  the meeting  of the  Enforcement
 Subcommittee  on  the  previous  day;  he  then
 reiterated several points that were discussed during
 that meeting with Ms. Goode for the benefit of the
 Executive Council. He expressed the importance of
 community  involvement  related  to  the  new
 documents and also related to conducting reviews of
 delegated programs.

 Mr. Cole expressed concern the community groups
 may not have sufficient time to read the documents,
 digest them, work with technical advisors, and then
 provide comments to OCR in an informed manner.
 Ms. Goode addressed his concern by stating that all
 community groups should have at least three weeks
 to review the documents.

 Ms. Goode also made a commitment to adding a
 session at the end of July in Los Angeles, California.
 She added that she would consider adding another
 session in the final stages of the process in the
 Washington, D.C. area to ensure that stakeholders
 have adequate time to review the documents.

 Mr. Cole then  expressed similar  concern and
 frustration related to cases backlogged at EPA. He
 expressed concern about EPA's ability to process
 the existing  47 cases, while,  he pointed out, the
 Agency continues to  receive new administrative
 complaints.  Mr Cole strongly urged Ms. Goode to
 accelerate the process and resolve as many cases
 as  possible  before  the end  of  the  current
 administration.  In response, Ms. Goode explained
 that OCR does  not have sufficient resources  to
 resolve  the cases. She expressed her continued
 commitment to the effort to resolve the resource
 issue.   The  issues  involved in  resolving Title  VI
 complaints are extremely complex and require hours
 of coordination among Federal agencies, Ms. Goode
 pointed out.

 Mr. Yang also expressed concern about the brief
time remaining to accomplish results related to Title
VI before the end of the current administration. He
then inquired about  activities, other than those
 related to Title VI, that OCR conducts to ensure
compliance with civil rights laws. Many issues and
concerns expressed by  community groups,  he
emphasized, cannot be addressed through the Title
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      National Environmental Justice Advisory Council
VI process. Ms. Goode informed Mr. Yang that OCR
is responsible not only for compliance with Title VI,
but also for the employment discrimination program
under Title VII of the Civil Rights Act of 1964, as well
as the Agency's affirmative employment program. In
the areas  covered by those two programs,  she
continued,  OCR had  made strides  over  the
preceding two years in improving its ability to provide
guidance, support, and oversight for the Agency's
affirmative   employment   and  discrimination
complaints process. In addition, Ms. Goode stated,
OCR had initiated an alternative dispute resolution
pilot process as a means of encouraging  informal
resolution of issues related to Title VII. Continuing,
she explained  that  the affirmative  employment
program at EPA was being "retooled" to evaluate
more than just the numbers of people, but to include
job status, as well. Ms. Goode stated that OCR had
done a  good  job   not only in improving  the
representation of women and people of color, but
also in improving their numbers in policy-making
positions and senior-level ranks. She also informed
the NEJAC that OCR was working to ensure the
establishment of detailed accountability processes
and training and support mechanisms to address the
quality-of-life concerns of personnel at EPA.

Mr. Yang asked whether OCR was taking active
steps to investigate compliance, rather than waiting
for the finding of a-complaint. Ms. Goode responded
that there have been no compliance reviews related
to Title VI because, before 1994, EPA did not focus
on the issue, she continued,  no  guidance for the
conduct of compliance reviews has been developed.

Ms. Miller-Travis also .expressed concern about the
time frame for preparing the  new draft  guidance.
Ms. Goode again emphasized that OCR would work
diligently to complete  the guidance.  She explained
that OCR will use contractor support to summarize
the comments made on it and noted that she has the
support of senior managers for the effort to complete
that task as soon as possible.

4.3 Report  on  the  Activities of  the  U.S.
    Environmental Protection Agency Office of
    International Activities

Mr.  Alan  Hecht,  Principal  Deputy  Assistant
Administrator, EPA Office of International Activities
(OIA), began his discussion  by emphasizing the
importance of the current meeting for environmental
justice on an international level. For the  preceding
two weeks, he noted, OIA had hosted a delegation
from South Africa that had come to the United States
to learn  about activities related to environmental
justice.  During the delegation's two-week  tour, its
member  visited cities in the southeast, had the
opportunity to meet with officials in Atlanta, and
participated  in  the meeting of the International
Subcommittee of the NEJAC, he continued.

Mr. Hecht then offered a brief overview of  issues
related to the U.S./Mexico border to be addressed in
the next year. He explained that EPA and several
other Federal agencies implement the Border XXI
program, which is at the end of its five-year life;
therefore, when  the new administrations in both
Mexico and the United States have been elected, the
agencies will develop the next phase of the program,
he said.  Mr. Hecht stressed that the Border XXI
program is a crucial initiative for communities along
the borderfrom San Diego, California to Brownsville,
Texas. Along the border, he explained, there are
two problems: (1)  a legacy problem, specifically a
problem  of   neglect  of  issues  related to the
environment,  urban  development,  and  natural
resources and (2) the explosive growth of border
communities,  the fastest growing  segment  of the
population in  both  the United States and Mexico,
with a population projected to doubled by 2020. The
population increase, Mr. Hecht pointed out, will be
accompanied by an increase in urban development.
If urban planning is inadequate, he continued, such
development could further erode  natural resources,
potentially causing conflict between  the United
States and Mexico. EPA has made a commitment
to  working  with  the  Mexican  government,  a
particularly  important   step  because  a  new
administration is to be elected, Mr. Hecht added.

Mr. Hecht reminded the members of the NEJAC that
OIA and the International  Subcommittee of the
NEJAC  had  sponsored   the   Roundtable on
Environmental Justice  on the U.S./Mexico Border
held in August 1999, in National  City, California.
Exhibit 1-19 describes the activities conducted during
the roundtable meeting. At the end, OIA had been
presented with more than 100 recommendations to
act upon. Several developments had taken place as
a consequence of that meeting, Mr. Hecht continued.
First, he said,  EPA regions 6 and 9 have increased
specific community-level activities and addressed
community problems identified at the meeting. Both
regional offices have developed an action plan for
addressing the needs identified during the roundtable
meeting, he said.

Continuing, Mr. Hecht explained that one or two
priority issues among the  many  that had  been
identified are  symbolic of the relationship between
the United States  and  Mexico,  and  also the
relationship between  the  environmental  justice
communities on both sides of the  border.  One such
symbolic  issue,  Mr Hecht  said,  is the case of
abandoned contaminated sites in Mexico near the
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 National Environmental Justice Advisory Council
                                 Executive Council
                                      Exhibit 1-19
       ACTIVITIES OF THE ROUNDTABLE
         ON ENVIRONMENTAL JUSTICE
         ON THE U.S7MEXICO BORDER

   The Roundtable on Environmental Justice on the
   U.S./Mexico Border was held in National City,
   California August 19 through 21,1999.
   Recommendations developed during the conference
   included:

   •   Establishing an environmental justice border
      commission.

   •   Identifying vacancies on border advisory
      committees.

      Applying the U.S. Environmental Protection
      Agency (EPA) Region 9 Campo Tribal Model
      for other areas.

   •   Increasing participation by local governments
      and community groups in the decision-making
      process.

  An important part of the roundtable meeting was the
  concurrent work group sessions that focused on
  environmental justice and labor justice; immigration,
  trade, and environment; indigenous peoples and
  border justice; and environmental health issues along
  the U.S.flvIexico border.

border, that once were operated by U.S. industries
and companies.  Those sites, which have become
hazardous to communities living near them,  have
become a symbol of the  failure of government,
specifically a failure of society, to address an obvious
injustice,  he said.  Participants at the roundtable
meeting had urged EPA to cleanup those sites. Mr.
Hecht announced that EPA was pursuing every legal
means  available  to  ensure that the  sites  are
restored; however, he  noted, EPA has very limited
authority to take action related to sites that are
located in Mexico.  Therefore, he continued, the
Agency had begun to think more broadly about other
possible approaches to the cleanup of those sites,
he said. EPA had turned to many industries in the
United States that redevelop brownfields properties,
he said.  Without the impetus of  the  successful
roundtable meeting,  Mr. Hecht explained, such
innovative  thinking about how to address such
issues probably would  not have occurred.  He also
assured the members that such initiatives would
include community involvement components.
 Mr.   Hecht  also  explained  that  one  of  the
 recommendations developed by participants in the
 roundtable meeting requested a formal structure,
 such as  an advisory committee, through  which
 members of communities that have concerns about
 environmental  justice could play a  role  in  the
 development of the next phase of the Border XXI
 program.   Mr.  Hecht stated that EPA would use
 existing  mechanisms and  create new  ones,  if
 necessary, to ensure community involvement.  He
 also pointed out the EPA has an existing Federal
 advisory committee that was created specifically to
 address  environmental and infrastructure  issues
 related  to  the U.SVMexico border,  frie   Good
 Neighbor Environmental Board (GNEB).  Exhibit 1-
20 describes the mission of the  GNEB. Mr. Hecht
then announced that Mr. Jose  Bravo, Southwest
Network for Environmental  and Economic Justice
and   former   member   of  the  International
Subcommittee  of the NEJAC,  recently had been
appointed to serve as a member of the GNEB.


                                     Exhibit 1-20
     GOOD NEIGHBOR ENVIRONMENTAL
                   BOARD

 The Good Neighborhood Environmental Board
 (GNEB) was created by the Enterprise for the
 Americas Initiative Act of 1992 (EAIA) (7 United
 States Code Section 5404) to advise the President
 and the Congress about environmental and
 infrastructure issues and needs in the states
 contiguous to Mexico. The statute requires that the
 GNEB submit an annual report to the President and
 the Congress. The GNEB submitted reports in
 October 1995, April 1997, and July 1998. The
 GNEB's 1997 and 1998 report translated into Spanish
 and disseminated widely on both sides of the border.

 The act requires that the membership of the board
 include representatives of appropriate U.S.
 government agencies; the governments of Arizona,
 California, New Mexico, and Texas; and private
 organizations, including community development,
 academic, health, environmental, and other
 nongovernment entities that have expertise on
 environmental and infrastructure problems along the
 southwest border.

 A presidential Executive order delegates
 implementation authority to the administrator of the
 U.S. Environmental Protection Agency (EPA). The
 GNEB, which operates under the Federal Advisory
 Committee Act (FACA), meets three times annually
 at locations along the U.S./Mexico border.

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Concluding his remarks, Mr. Hecht emphasized that
the roundtable meeting had  been an  important
milestone focused on specific environmental justice
issues and concerns along the border.

Mr. Arnoldo Garcia, Urban Habitat Program and
chair  of the International Subcommittee of the
NEJAC, expressed his appreciation to Mr. Hecht for
his report and for the  commitment of OIA.  Mr.
Garcia pointed out that one of the priority issues EPA
must address is toxic waste sites, specifically those
located   in  Tijuana,   Candados  Prestos,  and
Tamaulipas. He stated that EPA must do additional
work in those areas. Mr. Garcia also informed the
NEJAC   that  another  priority recommendation
requested the formation of a border environmental
justice commission that would play a role with EPA
in  providing oversight and  monitoring  of the
implementation of the  EPA  regional  and border
environmental justice plans.

Continuing, Mr. Garcia explained that the issue of
"legacy" wastes is significant because the border
region has  been affected by contamination  left
behind by departing industries and other entities, as
have so many other low-income and communities of
color. He expressed his belief that EPA faces many
challenges  in  addressing  the  legacy  issue.
Therefore, Mr. Garcia pointed out, the creation of a
border commission on environmental justice would
be a crucial step ensuring that communities have
their  own  venue through which to voice their
concerns   and  participate  in  decision-making
processes.  Mr. Garcia concluded his remarks by
expressing his appreciation to the staff of EPA
regions  6  and 9 for their efforts following the
roundtable meeting.

Mr. Goldtooth commented that the International
Subcommittee had requested that the Indigenous
Peoples  Subcommittee also  participate in the
roundtable meeting.  He  explained that the Fort
Mojave Tribe, as well as a consortium of five tribes
that live along the Columbia River, had requested
that EPA Region 9 arrange a meeting with the
governor of California about potential groundwater
contamination from the proposed Ward Valley dump
for low-level radioactive material. He asked whether
there had been any developments in this area. In
addition, Mr.  Goldtooth  stated  that EPA  must
conduct better outreach to tribal citizens living along
the border and involve them  in decision-making
processes.

Mr. Hecht responded by stating that EPA Region 9
had  been   working  diligently  to  identify
recommendations developed by the participants in
the roundtable meeting, but that he would follow-up
to  determine  whether  the  region  had  been
successful in arranging a meeting with the governor.
Addressing  Mr.  Goldtooth's  other concern,  he
explained that the definition of "tribal" differs in the
United States and Mexico. However, he noted, EPA
is  committed   to working  with  the   Mexican
government to encourage public participation at all
levels.

4.4 Presentation on the Creation of the Puerto
    Rico   Subcommittee   of  the   National
    Environmental Justice Advisory Council

Mr.   William   Muszynski,   Deputy   Regional
Administrator, EPA Region 2, provided an update on
the efforts of EPA Region 2 to improve and protect
the environment in Puerto Rico. He explained that
EPA Region 2 includes the Commonwealth of Puerto
Rico, the U.S. Virgin Islands, and the states of New
York and New Jersey, as well as seven Federally
recognized tribes. Mr. Muszynski then announced
that the creation of a new NEJAC subcommittee on
Puerto Rico  had  been  approved by  the  EPA
Administrator.  Exhibit 1-21  provides a list of the
members  of the  subcommittee who have  been
appointed to date. Mr. Muszynski explained that the
subcommittee would have 12 members and that Dr.
Carlos Padin, Dean of the Metropolitan University of
San Juan, Puerto Rico, was to be the first chair of
the new subcommittee.  Ms. Teresita Rodriguez,
EPA Region 2 Caribbean Environmental Protection
Division in Puerto Rico, would serve as the DFO for
the subcommittee, he said.  The  members,  he
continued,  represent a  variety of  backgrounds,
including academia;  grassroots and  community-
based organizations; government; and industry.

                                   Exhibit 1-21
                MEMBERS OF
       PUERTO RICO SUBCOMMITTEE

             Dr. Carlos Padin, Chair
             Teresita Rodriguez, DFO

                 Rosa Corrada
         Eris Del Carman Galan-Jimenez
              Iris Cuadrado Gomez
             Juan C. Gomez-Escaree
                 Jennifer Mayo
             Graciela Ramirez-Toro
               Rosa Hilda Ramos
            Efrain Emmanueli Rivera
               Jose Cruz Rivera
                 Rafael Robert
               Michael Szendry
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 Mr. Muszynski then explained that Puerto Rico has
 unique  geopolitical,   cultural,   language,
 socioeconomic,  and  environmental  concerns;
 therefore, unique and creative approaches will be
 necessary to resolve those concerns, he continued.
 The  island   is   densely   populated,   having
 approximately 3.6 million residents, he said.  Mr.
 Muszynski also stated that the residents of Puerto
 Rico and  local government  agencies have  had
 difficulty   working  together   to  address  the
 environmental and environmental justice issues that
 affect communities. He expressed his hope that the
 creation of the new subcommittee of stakeholders
 from Puerto Rico would increase the representation
 of   such  stakeholders   and   the   meaningful
 involvement in the environmental decision-making
 process that affects their communities.  He also
 expressed his  belief that the new subcommittee
 would serve as a vehicle for a more collaborative
 effort by bringing  together government, industry,
 academia, and residents of Puerto  Rico to identify
 and   resolve  environmental   concerns  and
 environmental justice issues.

 In addition, EPA Region 2  had embarked on a
 continuous  expansion  of the  Agency's on-site
 presence  in Puerto Rico and the  Virgin  Islands,
 continued Mr. Muszynski.  He announced that the
 region's Caribbean field office had been elevated to
 the Carribean Environmental Protection Division. Its
 staff had been increased from approximately 20 in
 1995 to 47, with the continuing hope of expanding
 the staff to 60, he said. EPA Region 2, he continued,
 also had established a new EPA field office in the
 Virgin Islands.

 Finally, Mr. Muszynski described the development of
 the region's translation policy, which focuses on the
 translation of documents into Spanish. The goal of
 the program is to increase community involvement
 and understanding, he stated.

 Mr.  Lee  explained that the  creation  of  the
 subcommittee represents EPA's Region 2 long-term
 and  substantial   commitment  to  addressing
 environmental justice issues in Puerto Rico. Mr. Lee
 then welcomed Dr. Padin as a new member of the
 Executive Council  of the  NEJAC.   Dr.  Padin
 expressed his hope that the new subcommittee will
 open  channels   of   communication   among
 government agencies,  industry,  academia,  and
 communities to resolve the environmental issues
 that affect Puerto Rico.

4.5 Presentation on Executive Order 13125

 Mr. Lee informed the members of the NEJAC that
 President Clinton  recently had issued Executive
 Order  13125  on Asian  Americans  and Pacific
 Islanders.  Mr. David O'Connor, Deputy Assistant
 Administrator,  EPA  Office of Administration and
 Resources  Management (OARM), was unable to
 attend,  Mr. Lee said.   However,   Ms.  Maria
 Hendriksson, Special Assistant to the Director Off ice
 of Human Resources, EPA OARM, was to provide
 the  report on the Executive order as well as  the
 White House Initiative  on those populations,  he
 explained.

 Ms. Hendriksson described Asian Americans and
 Pacific Islanders as an emerging population that is
 "slowly but surely" gaining political, economic, and
 community  consciousness. In January 2000, Ms.
 Hendriksson stated  Los Angeles,  California, had
 established the first official Thai Town" in the United
 States because 75 percent of all local businesses in
 that community are Thai-owned.  Ms. Hendriksson
 also stated that the 2000 census had been the first
 time  the   Federal  government  had  collected
 nationwide data on Asian Americans  and Pacific
 Islanders.   Previously, the population group, she
 explained, had been listed on the census form in the
 "Other" category, thereby creating a large data gap,
 she said.

 The population group faces many challenges, she
 continued.   For  example, 75 percent of Asian
 Americans and Pacific Islanders in this country are
 foreign-born, and fifty percent do not speak English
 as their  primary  language, she  continued.  Ms.
 Hendriksson explained that EPA has found Asian
 Americans and Pacific Islanders are not  involved
 because they believe they are not affected adversely
 by environmental and health problems. Rather, she
 said, they lack awareness of environmental health
 issues and refrain from exercising a political voice.
 The  challenge of conducting sufficient outreach is
 made even more difficult, she noted, because many
 individuals in the population group have only limited
 proficiency in English.

 Continuing,   Ms.   Hendriksson  explained  the
 significance  of the particular Executive order.  She
 stated that the order had been issued in an effort to
 improve the quality of life of Asian Americans and
 Pacific Islanders in this country through increased
 participation in Federal programs.  It is the most
 significant and comprehensive Executive order ever
 issued for that minority  group,  she said.   The
 Executive order also is comprehensive, she said,
 because it involves social, health, transportation, civil
 rights, commerce, and environmental services~the
 gamut of Federal programs.

The goals of the Executive order, she pointed out,
are to (1) increase participation in Federal programs
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in which the Asian American and Pacific Islander
community is underserved;  (2)  to  collect and
maintain statistical data on such populations and
subpopulations; (3) to increase the public-sector,
private-sector, and community involvement in the
health and well-being  of Asian Americans and
Pacific Islanders; and (4) to foster research and data
collection on the health of the entire community. The
White House  Initiative  on Asian Americans and
Pacific Islanders, which evolved from the Executive
order, established two distinct bodies, a private and
a public sector group, she noted. The public-sector
group, she explained, is  made up of the deputy
secretaries of various Federal agencies, and the
private-sector  group is the Presidential Advisory
Commission, which is made up 15 Asian American
and Pacific Islander leaders representing businesses
and community groups.

Ms. Hendriksson then announced that EPA currently
was conducting an inventory of all EPA activities that
are related to Asian Americans and Pacific Islanders.
Using the results of the inventory, she explained,
EPA was to develop a implementation plan for fiscal
year 2001 that would describe the future actions by
which the Agency plans to address the needs of that
particular population.  She also explained that the
two products will  be  examined, along with  other
information about relevant activities of other Federal
agencies to determine the state of Asian Americans
and Pacific Islanders in the United States.

Ms. Hendriksson requested that the NEJAC give
greater emphasis to focus issues related to Asian
Americans and Pacific Islanders in its deliberations.
Concluding her remarks, Ms. Hendriksson identified
several activities that she suggested the Federal
government should implement: (1) conduct a needs
assessment of the environmental and health effects
on Asian Americans and  Pacific  Islanders; (2)
understand the  underlying  socioeconomic  and
cultural dynamics  of the  population; (3) increase
participation of the population in decision-making
processes; (4) compile a directory of Asian American
and Pacific Islander community groups and business
associations; and (5) conduct additional outreach to
such communities.

Mr. Yang urged that EPA continue to conduct
outreach to Asian Americans and Pacific Islanders
because it is an underserved community. However,
he explained,  there are  several other important
reasons to undertake such  an effort.  First, he
explained, language barriers are a  key issue to
greater involvement and the delivery of services to
Asian American and Pacific Islander communities
because of the different levels of understanding in
communities about benefits, government services,
and the dangers of toxic and hazardous chemicals.
For example, he pointed out, a person who is unable
to  read  a warning label  is unable  to  take  the
necessary precautions the label prescribes.

In addition,  Mr. Yang stressed the importance of
addressing issues related to the consumption of
contaminated fish. He expressed concern because
many   refugee,   immigrant,  and  low-income
communities rely on substance fishing to supplement
their diets. Mr. Yang also emphasized the issue of
occupational health, stating that minority workers are
being targeted for jobs that involve the handling of
toxic and hazardous chemicals. Ms. Miller-Travis
asked whether there was a plan in place to keep the
NEJAC informed  about activities conducted under
the White House initiative.  Mr. Lee responded that
OEJ currently was working on a strategy to continue
to coordinate efforts. In addition, Mr. Lee explained,
OEJ was working to arrange briefings for EPA
environmental justice coordinators on the issue.

   5.0  REPORTS OF THE SUBCOMMITTEES

On May 25, 2000, each subcommittee met for a full
day. This section  presents summaries of the action
items and proposed resolutions developed during
those  discussions, as well as updates on  the
activities of the subcommittees. Appendix A of this
meeting  summary presents the full text of  the
resolutions that were  approved by the  Executive
Council.   Chapters three through eight present
detailed summaries of the deliberations of each of
the subcommittees.

5.1 Air and Water Subcommittee

Ms. Annabelle  Jaramillo, Office of the  Governor,
State of Oregon and vice chair of the Air and Water
Subcommittee  of the  NEJAC, reported on  the
activities of the Air and Water Subcommittee. Ms.
Jaramillo  requested  that  the  Executive  Council
consider and approve a proposed resolution on
mercury emissions. Mr. Whitehead explained that
the proposed resolution requests that the NEJAC
recommend  to the EPA  Administrator that  the
Agency make a determination to regulate  mercury
emissions from coal-fired electrical power plants. He
also explained that coal-fired electrical power plants
are the nation's largest source of mercury emissions
and that  such emissions  are  unregulated.   In
addition, Mr. Whitehead declared that such mercury
emissions primarily affect  people of color and
indigenous  populations because  the emissions
eventually  contaminate fish  tissue.   The two
populations, Mr. Whitehead pointed out, consume
fish from contaminated lakes and rivers much more
frequently than other populations. The members of
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 the Executive Council approved the resolution with
 one abstention.

 Continuing, Ms. Jaramillo explained that the Air and
 Water Subcommittee was to create a joint work
 group  with   the  Waste   and  Facility  Siting
 Subcommittee  to review EPA  OSWER's draft
 guidance on reducing toxic loadings.  She also
 stated that the members of the subcommittee had
 agreed to expand the subcommittee's work group on
 fish consumption to  include members of  the
 Indigenous  Peoples Subcommittee.  The work
 group, she said, would investigate the health effects
 on indigenous populations of the  consumption of
 contaminated fish.

 5.2 Enforcement Subcommittee

 Mr. Cole requested that the Executive  Council
 consider and approve a proposed  resolution on
 multiple chemical sensitivity. Mr. Cole explained that
 multiple  chemical sensitivity is a condition that
 affects thousands of people in which there has been
 some type of trigger exposure to a  chemical that
 then makes people extremely susceptible to what
 other people would consider low-level exposures to
 chemicals. In those individuals, he continued, such
 exposures cause  a  variety  of symptoms.   The
 proposed resolution, Mr. Cole explained, requests
 that the  NEJAC recommend that EPA work with
 other agencies to study the  incidence of  multiple
 chemical sensitivity in minority communities and low-
 income  communities,  especially those  heavily
 affected by environmental pollutants.  Mr. Goldtooth
 offered an amendment to the resolution to add tribes
 to the list of the affected populations. The Executive
 Council approved the resolution as amended.

 Mr. Cole then discussed the proposed resolution on
 concentrated animal feeding operations (CAFO). He
 explained that, during public comment periods over
 a period of two years, the Executive Council and the
 Enforcement  Subcommittee  had  heard extensive
 testimony about adverse health effects caused by
 the operations of CAFOs and  environmental justice
 concerns related to them. Mr. Cole made several
 points  about the resolution:  (1) the proposed
 resolution represented  only the beginning of the
 NEJAC's advice and recommendations to the EPA
 on CAFOs; (2) the Enforcement Subcommittee was
 to develop a report to the Agency that will provide
 recommendations; and (3) the resolution had been
 revised in light of a presentation on CAFOs made to
the Air and Water Subcommittee.

 Ms. Jane Stahl,  Deputy Assistant  Commissioner,
 Connecticut  Department   of  Environmental
 Protection, expressed concern about the new points
 in the resolution because of the language used,
 particularly the request to aggressively "crack down"
 on states. She suggested that the Executive Council
 postpone the vote on the resolution until the more
 extensive report Mr. Cole had referred to had been
 developed.   Ms. Wood also expressed concern
 about how states were addressed. The NEJAC
 should encourage states to address environmental
 justice issues, she said, she believes that the tone of
 the resolution did not convey this message. Mr. Cole
 declared that he understood such concerns.  He
 then  stated his belief that  the  issues  could be
 resolved in the planned report that was to set forth a
 stronger  and  broader policy  statement.   The
 members of the  Executive Council approved  the
 resolution on CAFOs, with two votes against it.

 Mr.  Cole then presented  a resolution  to  the
 Executive Council to create a work group of  the
 Enforcement  Subcommittee  to   research  and
 investigate, environmental justice issues related to
 Federal facilities, and provide recommendations to
 the NEJAC. The Executive Council approved  the
 resolution by creating a work group of the Executive
 Council to address environmental justice issues at
 Federal facilities.

 Mr. Cole then asked that Mr. Turrentine forward to
 the EPA Administrator a letter that addresses EPA's
 implementation of the clean fuels program.   He
 noted that the Enforcement Subcommittee pointed
 out to OAR on several occasions that there are ways
 to undertake the  process of retrofitting refineries,
 which  most often are  located in  communities of
 color, that reduce emissions. It is predicted,  Mr.
 Cole pointed  out, that the retrofits that refineries
 currently are undertaking to produce cleaner fuels
 will increase emissions at those refineries. The
 Executive Council approved the  request that  Mr.
 Turrentine  forward  the  letter   to  the  EPA
 Administrator.

 Ms. Shirley Pate, Office of Enforcement Capacity
 and  Outreach,  EPA OECA, and DFO of   the
 Enforcement Subcommittee, then  reported on  the
 activities of the  Enforcement Subcommittee. She
 began  her  presentation  by  stating  that   the
 Enforcement  Subcommittee had  met  with Ms.
 Lowrance and received a commitment from Ms.
 Lowrance  to   involve  the  members  of  the
subcommittee in various stages of OECA's strategic
planning process.

The public health focus of the agenda addressed the
general theme of identifying health data or indicators
EPA should use to improve its enforcement targeting
resources, continued  Ms. Pate. She reported that
the subcommittee also heard presentations from  Dr.
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Maureen Lichtveld,  CDC;  Ms. Juanita Burney, a
nurse from Richmond County, Georgia; and Dr. Tim
Aldrich, South Carolina Department of Environment
and Control. All three presentations focused on
improving health indicators, she noted.

In addition, Ms. Pate stated that the subcommittee
had heard a presentation on CAFOs by Dr. Steve
Wing, University of  North Carolina, and Mr. Gary
Grant, Concerned Citizens of Tillery County.  The
presentation, Ms. Pate explained,  deepened the
subcommittee's concern that environmental justice
issues related to CAFOs should be addressed.

Ms. Pate concluded her report by stating that the
members of the subcommittee had  conferred with
Ms. Goode about EPA's implementation of Title VI.
The subcommittee, Ms.  Pate stated, agreed to
produce a report on Title VI that was to include a
discussion  of  the  difficulties  encountered  by
communities  that  file administrative complaints
under  Title  VI.  The report  also  will provide a
chronological description of EPA's lack of progress
in the processing of Title VI cases, she said.  The
report  also  will make recommendations to the
Agency for improvements in Title VI guidance, she
added.

5.3 Health and Research Subcommittee

Dr. Payton reported on the activities of the Health
and Research Subcommittee. In December 1999,
the  Health  and Research   Subcommittee  had
recommended that the May 2000 meeting of the
NEJAC focus on public health issues related to
environmental justice.. As part of the subcommittee's
agenda, an interagency forum was held to discuss
how Federal agencies could better coordinate and
collaborate to develop an integrated public health
agenda, she reported.

Dr. Payton requested that the Executive Council
consider and approve a resolution on the decision
tree  framework   for   community-directed
environmental health assessment developed by the
Working Groupon Community Environmental Health
Assessment  of the  Health   and  Research
Subcommittee.   She  explained that the working
group had met for the second time and developed
recommendations related  to  community-directed
environmental health assessments. She expressed
her belief  that the decision tree framework is an
important tool that will help to empower and educate
environmental justice  communities  about issues
related  to   community   environmental  health
assessment, intervention, and prevention strategies.
The resolution  also  requested that the NEJAC
recommend that EPA provide funding for the design
and development of the decision tree framework and
requested that the terms of the work group members
be extended to complete the framework.  The
members of the Executive Council voted to approve
the resolution, with one abstention.

In addition, Dr. Payton stated that the members of
the  subcommittee  were   to  be  prepare  for
consideration by the Executive Council a resolution
that would recommend that EPA include criteria in
the  Agency's  permitting  processes  to  protect
communities that  have comparatively poor health
from the approval of the siting of additional pollution-
releasing facilities in such communities. Dr. Payton
also stated that the subcommittee was to develop a
resolution that would recommend that EPA establish
an effective national facility registry system for all
operating facilities that emit hazardous chemicals.

Concluding her report, Dr. Payton announced that
the subcommittee was to be develop a resolution to
support the creation of a work group of the NEJAC
to address issues of concern related to the Mossville
community in Louisiana.

5.4 Indigenous Peoples Subcommittee

Mr. Goldtooth began the subcommittee report by
requesting that the Executive Council consider and
approve a proposed resolution recommending that
the  United  States  support the  elimination  of
unintentional byproducts of dioxin.  The proposed
resolution, he explained, had three key points: (1)
encourage EPA in  its negotiation of the global treaty
on persistent organic pollutants (POP) to support
language in the treaty that emphasizes reduction,
pollution  prevention, and a gradual phase-out of
dioxin-producing materials and technologies, with the
ultimate aim the elimination of the dioxin; (2) request
that EPA support language in the treaty that supports
rapid phase-out of all remaining uses of PCBs and
the cleanup of soils and sediments contaminated by
PCBs and other POPs; and (3) request that the EPA
treaty negotiation  team consult with  all American
Indian  and  Alaskan  Native tribes   before and
throughout  the entire international  negotiation
process about the important issue that affects the
health, welfare, environment, and overall survival of
tribal nations  in the United  States and indigenous
peoples throughout  the world.   Members  of the
Executive Council approved the resolution, with one
abstention.

Ms. Jana Walker, Law Office of Jana L. Walker and
member of the Indigenous Peoples Subcommittee of
the NEJAC, then reported on the activities of the
Indigenous Peoples Subcommittee. She announced
that the subcommittee had agreed to coordinate with
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the Waste and Facility Siting Subcommittee's work
on two environmental justice issues that involve
Native groups and tribes:  the proposed Gregory
Creek landfill, located near six Indian reservations,
and the continued use of a bombing site on Nomans
Island,   near   the  Wampanoag  Tribe   of
Massachusetts.

In addition, Ms. Walkerstated that the subcommittee
had distributed a revised draft of the  Guide on
Consultation in Public Participation with Tribes.  She
stated that the comments on the draft were due by
August 15, 2000. She explained that the guide had
been developed because of the  unique political
status of Indian   tribes,  their  govemment-to-
government   relationship  with   the   Federal
government, and the Federal government's trust
responsibility to them. The guide, she explained, is
intended to help government agencies participate in
a meaningful consultation process with tribes.

The  Indigenous  Peoples  Subcommittee,  she
continued, also was to continue to coordinate  with
the International Subcommittee's follow-up efforts
related to the Roundtable on Environmental Justice
on the U.S./Mexico  Border.  The members of the
subcommittee also had approved a letter addressed
to Mr. Hill that  reaffirms  a request  made by the
subcommittee in 1998 that a meeting of the NEJAC
be held in Alaska to address the wide range of
issues of concern to  Alaska Natives.

5.5 International Subcommittee

Mr. Garcia requested that the  Executive Council
approve the creation of two new work groups, of the
subcommittee. He requested that a work group be
created to address environmental concerns related
to the conditions that farm workers work under and
that a second work group  be created to ensure
follow-up   related   to  the   Roundtable   on
Environmental Justice on the U.S./Mexico Border, so
that recommendations developed at the meeting will
be addressed.  The Executive Council  approved
both work  groups.

Mr. Cuevas then began the discussion of  the
activities of the International Subcommittee.  He
began by  stating that the meeting had focused on
issues related to the enforcement of  pesticide
regulations and the conditions related to the use of
pesticides  that farm workers must work under. The
subcommittee, Mr. Cuevas explained, had  heard
presentations on  improving  the  health  of farm
workers; the success story of Barrio Logan, San
Diego, California; Lake Apopka, Florida  and farm
worker health; initiatives undertaken by the EPA
Office  of Prevention,  Pesticides,   and  Toxic
 Substances (OPPTS); and a report offered by EPA
 Region 10 on the effects of farm worker protection
 standards.

 Mr. Yang continued the discussion of the activities of
 the International Subcommittee by addressing future
 agenda items.  The subcommittee, he explained,
 had had a productive meeting with Mr. Hecht on
 areas within the responsibility of OIA in which the
 subcommittee can  offer assistance. Those areas,
 he pointed  out,  range from  events aiong the
 U.S./Mexico Border and potential work on OlA's
 influence  on multilateral development banks  to
 human rights issues and trade and the environment.
 Mr. Yang also stated  that the  subcommittee had
 conducted extensive discussion of significant follow-
 up issues related to the U.S./Mexico Border.  Mr.
 Yang concluded his report by  highlighting issues
 discussed during a dialogue session between the
 members of the subcommittee  and the delegation
 from South Africa.

 5.6 Waste and Facility Siting Subcommittee

 Ms.  Miller-Travis reported  on the  activities of the
 Waste and Facility Siting Subcommittee. Ms. Miller-
 Travis  noted that  the subcommittee and  EPA
 OSWER remain committed to continue their work
 with the Waste Transfer  Stations (WTS) Work
 Group of the subcommittee on the development of a
 draft status  report, EPA's  Municipal Solid Waste
 Transfer Station Action Strategy. She reminded the
 members  of the Executive Council that, in March
 2000, the NEJAC approved and forwarded to the
 EPA Administrator  the work group's report,  The
 Regulatory Strategy for Siting and Operating Waste
 Transfer Stations.  Continuing,  she explained that
 Mr. Timothy Fields, Jr., Assistant Administrator of
 EPA OSWER,  had   responded   quickly  to  the
 recommendations set forth in the report of the work
 group.    Included  in  the  action  strategy,  she
 continued, are specific action items related to WTSs
that EPA regions 2 and 3 should undertake.

 In addition, she explained that the subcommittee had
agreed to provide OSWER with points of contact to
 inform   the  subcommittee   of  OSWER's
 implementation  of  best  management  practices
 related to WTSs. One of the commitments included
 in the action strategy is the development of a guide
to best management practices related for WTSs for
 local and state governments, said Ms. Miller-Travis.

The  members of the Waste and Facility Siting
Subcommittee, she explained, also recommended to
the NEJAC that a mechanism be developed to
ensure the participation of the NEJAC in EPA's
development of risk assessments.
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 Executive Council
      National Environmental Justice Advisory Council
 Continuing, Ms. Miller-Travis informed the Executive
 Council of a request the subcommittee had received
 from communities living in East Liverpool, Ohio near
 an incinerator operated by WTI.  The members of
 the subcommittee had asked Mr. Michael Shapiro,
 Deputy Assistant Administrator of EPA OSWER, to
 specifically address the concerns expressed by the
 community and to work with EPA Region 5 to ensure
 that compliance issues related  to  the  ongoing
 operations of the incinerator in East Liverpool, Ohio
 are resolved, she said.  In addition, she continued,
 the members of the subcommittee also had received
 assurances from EPA regions 4  and 6 that they
 would  develop statistical information  on permit
 compliance and enforcement actions taken in the
 states of Alabama, Georgia, Mississippi, and Texas
 and that they would provide that information to the
 Alabama African-American Environmental Justice
 Action  Network and  the  Southern  Organizing
 Committee for Economic and Social Justice.

 Continuing  her report, Ms. Miller-Travis explained
 thatthe subcommittee would address environmental
 justice concerns associated with issues related to
 Federal facilities  that had  been  raised  by  the
 Wampanoag  Tribe  of  Massachusetts regarding
 operations conducted by the Department of the Navy
 (Navy) at Nomans Island, Massachusetts.  She
 explained that the Office of the Secretary of the
 Environment of the State of Massachusetts and the
 Massachusetts  Department  of  Environmental
 Protection had requested that the subcommittee
 address, in conjunction  with EPA, environmental
 justice issues related to the ongoing use of Nomans
 Island as a bombing site.

 Ms. Miller-Travis then addressed three items related
 to  Mossville,   Louisiana.     Members  of  the
 subcommittee   had  agreed  to  meet  with
 representatives of EPA and ATSDR to formulate a
 plan for conducting a public health response to the
 exposure investigation  of  dioxins conducted by
 ATSDR at  Mossville, Louisiana,  she said.  The
 subcommittee, she explained, also had agreed to
 work with staff of EPA Region 6 and the residents of
 Mossville to resolve various  issues of  concern
 related to the community. Finally, Ms. Miller-Travis
 stated thatthe subcommittee would recommend that
 a resolution be developed to support the creation of
 a work group of the  NEJAC to assist ATSDR and
 EPA in ensuring that government agencies follow
 environmental justice public participation principles
 and to focus on the resolution of issues of concern to
the community of Mossville, Louisiana.

 Concluding her report, Ms. Miller-Travis requested
that the members of the Executive Council obtain a
copy of EPA's Social Aspects of Siting Resource
 Conservation and Recovery Act [RCRA] Hazardous
 Waste  Facilities.   She  recommended that the
 members and the public review the document.

  6.0  FOLLOW-UP ON ISSUES RELATED TO
          ENVIRONMENTAL JUSTICE
       AND THE ISSUANCE OF PERMITS

 In its  continuing efforts  to  provide independent
 advice to the  EPA Administrator in areas related to
 environmental justice,  the  NEJAC focused  its
 fourteenth  meeting held in December 1999 in
 Arlington, Virginia on permitting and environmental
 justice. As chair of the special work group created
 by  the  NEJAC  on permits,  Ms. Miller-Travis
 announced that  through a  mail ballot conducted
 before the current meeting, the members  of the
 Executive Council  had approved  a report that
 provided recommendations to the EPA Administrator
 for integrating the principles of environmental justice
 into the permitting process.  She enumerated the
 crucial recommendations included in the report: (1)
 the need to clarify the legal authority the permit writer
 has  to address  environmental justice issues in
 permitting; (2) the need to clarify substantive permit
 criteria, including cumulative effects, degree of risk,
 community demographics and disproportionality of
 risk; (3) the need to consider community involvement
 in the  decision-making  process as  it is related to
 permitting  decisions;  (4)  the need to  ensure
 enforcement of permits; and (5) the need to consider
the relationship  between  land  use zoning and
 environmental decisions.

 Ms. Wood asked  how comments she had submitted
on the report had been integrated into the document.
 Mr. Turrentine explained that he and OEJ had
 received the comments after the  report had been
completed. Ms. Wood requested that her comments
be entered into the record of the NEJAC. Mr. Hill
 responded that the letter would be entered into the
 record.

           7.0  CLOSING REMARKS

Mr. Hill explained that many communities lack
 resources to address environmental justice  issues.
Therefore, he announced, OEJ had established the
Community Internship Program to supervise student
training opportunities in  grassroot organizations to
learn   how   these   organizations   address
environmental problems. Mr. Hill then identified the
15 organizations students are training with.  Exhibit
1-22 lists these 15 organizations.
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 National Environmental Justice Advisory Council
                                Executive Council
                                    Exhibit 1-22
      U.S. ENVIRONMENTAL PROTECTION
      AGENCY ENVIRONMENTAL JUSTICE
      COMMUNITY INTERN PROGRAM FOR
                 SUMMER 2000

  This list presents the community organizations that
  received grants to provide students training
  opportunities.

      O.N.E./C.H.A.N.E., Hartford, Connecticut
      Comite Timon de Calidad Ambiental, Manati,
      Puerto Rico

      Jesus People Against Pollution, Columbus,
      Mississippi

  •   Southern Organizing Committee for Economic
      and Social Justice, Atlanta, Georgia

  •   Harambee House/Citizens for Environmental
      Justice, Savannah, Georgia

      Indigenous Environmental Network, Bemidji,
      Minnesota

  •   People Organized in Defense of Earth and her
      Resources, Austin, Texas

  •   Citizens Against Contamination, Mossville,
      Louisiana

  •   Front Range Earth Force, Denver, Colorado
  •   Colorado's People's Environmental and
      Economic Network, Denver, Colorado

  •   Native Action, North Cheyenne Indian
      Reservation, Lame Deer, Montana

  •   International Institute for Indigenous Resource
      Management, Denver Colorado
  •   Red Rock Foundation, Carefree, Arizona
  •   Resources for Sustainable Communities,
      Bellingham, Washington

Mr. Lee concluded the meeting of the NEJAC by
announcing that approximately 540 participants had
attended.  Mr. Lee pointed out the "real connection"
experienced  during  the   meeting   between
government agencies and communities that have
environmental justice concerns. He also expressed
his hope that lessons learned in the planning for the
meeting will be applied  in  preparing for future
meetings.  He concluded with an announcement that
the December 2000 meeting of the NEJAC to be
held  in Arlington,  Virginia,  was  to  focus  on
interagency implementation of environmental justice.
        8.0  SUMMARY OF APPROVED
         RESOLUTIONS AND LETTERS
             FORWARDED TO THE
      U.S. ENVIRONMENTAL PROTECTION
          AGENCY ADMINISTRATOR

 This section presents a summary of the letter to the
 EPA Administrator and summarizes resolutions that
 were discussed by the subcommittees and approved
 by the Executive Council of the NEJAC during the
 meeting. Appendix A provides the full text of each
 resolution.

 The NEJAC approved the following resolutions:

 •   The NEJAC recommends that EPA address
    environmental justice issues related to POPs.

 •   The NEJAC supports EPA's efforts to regulate
    mercury emissions from coal-fired power plants.

 •   The NEJAC recommends that EPA work with
    other agencies to study the incidence of multiple
    chemical sensitivity in minority communities and
    low-income   communities,  especially  those
    heavily impacted by environmental pollutants.

 •   The NEJAC urges EPA to  commit additional
    resources to remedy pollution and environmental
    justice  issues associated with the siting and
    expansion of large-scale CAFOs in minority and
    low-income communities and in Indian country.

 •   The NEJAC request that EPA approve the
    creation of  a work group  of the Executive
    Council of the NEJAC to address environmental
    justice issues related to Federal facilities.

 •   The NEJAC  request that EPA approve the
    request  of  the  Health   and   Research
    Subcommittee to  extend the  term  of the
    members of the Working Group on Community
    Environmental Health Assessment to maintain
    continuity of the development of the Decision
    Tree Framework.

The NEJAC also approved the following letter to the
 EPA Administrator:

•   The NEJAC urges EPA to  address potential
    health effects caused by the promulgation of
    Tier 2 regulations.
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The NEJAC also approved the following work groups
of the International Subcommittee to address issues
related to environmental justice:

•   Farmworker Work Group of the International
    Subcommittee   to   address   environmental
    concerns  related  to   the  conditions  that
    farmworkers work under.

•   Follow-up to  the International Roundtable on
    Environmental  Justice  Work Group of  the
    International  Subcommittee to  continue  to
    address recommendations  developed at  the
    roundtable meeting  held in August  1999 in
    National City, California.

The members of the NEJAC also  approved  the
Decision Tree Framework for Community-Directed
Environmental  Health   Assessment  that  was
developed by the Working Group on Community
Environmental Health Assessment of the Health and
Research Subcommittee.
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      Atlanta, Georgia, May 23 through 26, 2000

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                    MEETING SUMMARY
                          of the
                 PUBLIC COMMENT PERIODS
                          of the
    NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                    May 23 and 24, 2000
                    ATLANTA, GEORGIA
     Meeting Summary Accepted By:
              '•-£*
Charles Lee                       Haywood Turrentine
Office of Environmental Justice       Chair
U.S. Environmental Protection Agency
Designated Federal Official


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                                        CHAPTER TWO
                                      SUMMARY OF THE
                                 PUBLIC COMMENT PERIODS
             1.0  INTRODUCTION

 During its meeting in Atlanta, Georgia, the Executive
 Council  of  the  National  Environmental  Justice
 Advisory Council (NEJAC) held two public comment
 periods, the first on Tuesday evening, May 23,2000
 and the second on the evening of Wednesday, May
 24, 2000. During the two sessions, 61 individuals
 offered comments.

 This chapter presents summaries of the testimony
 the Executive Council of the NEJAC received during
 the public comment periods and the comments and
 questions that the testimony prompted on the part of
 the members of the Executive Council.  Section 2.0,
 General Public Comment Period Held on May 23,
 2000, summarizes the presentations  on general
 environmental  justice issues offered on that date,
 along  with  the  dialogue  those  presentations
 prompted.  Section 3.0, Focused Public Comment
 Period Held on  May 24, 2000, summarizes  the
 testimony  offered  related  to   community
 environmental  health  and environmental  justice
 issues during the public comment period held on that
 date and the dialogues between the presenters and
 the members  of the Council that followed those
 presentations.

 Opening  the fifteenth meeting of the NEJAC,  Mr.
 Haywood Turrentine,  Executive Director, Laborers
 Education and Training Tru'st Fund (an affiliate of the
 Laborers International Union of North America) and
 chair of  the Executive  Council  of the NEJAC,
 thanked the members of the council and the public
 who had traveled considerable distances to attend
 the  meeting.    Mr.  Turrentine  requested  that
 commenters adhere to the specified guidelines to
 ensure that everybody on the schedule would have
 an  opportunity to  speak.   He  also  asked that
 members  of the  Executive Council to focus on
 expressing questions and observations  in response
to the issues presented. Mr. Turrentine added that
 members of the council would be welcome to ask
questions intended to clarify a comment offered.

  2.0 GENERAL PUBLIC COMMENT PERIOD
            HELD ON MAY 23, 2000

This section summarizes the comments presented
to the Executive Council during the general public
comment period held on May 23, 2000, along with
 the questions and observations those comments
 prompted among members of the Executive Council.

 Comments are summarized below in the order in
 which they were offered.

 2.1 Elizabeth  Crowe,   Chemical  Weapons
    Working Group, Berea, Kentucky

 Ms. Elizabeth Crowe, Chemical Weapons Working
 Group (CWWG), Berea, Kentucky, stated that her
 organization is a national coalition that works to
 ensure the safe disposal of chemical weapons in the
 continental United States and U.S. territories located
 in the Pacific. Ms. Crowe noted that she had spoken
 at the previous meeting of the  NEJAC, held in
 Arlington, Virginia in December 1999.  At that time,
 she   said,   she  had  discussed environmental
 injustices within the U.S. Department of Defense's
 (DoD) chemical weapons disposal  program and
 chronic  problems  associated  with  the   U.S.
 Department of the Army's (Army) chemical weapons
 incinerators in the Pacific and in Utah. The Army
 has illogically insisted on constructing additional
 incinerators  in minority communities located  in
 Oregon,  Alabama, and Arkansas, continued Ms.
 Crowe,  despite  the availability  of  safer,  more
 acceptable non-incineration disposal technologies.

 Ms. Crowe stated that, since the December meeting
 of the NEJAC, Mr. Gary Harris,  a former employee
 of the Utah incinerator, had alleged that, to maintain
 the Army's operating permits,  the Army and  its
 contractor   intentionally falsified    information
 submitted to the state of Utah.  Those allegations
 corroborate   handwritten  statements   and
 memorandums released to the CWWG by Mr. Steve
 Jones, safety manager at the Utah incinerator, she
 stated.

 On  Monday, May 8,  2000,  she continued,  when
 chemical agents were released from the incinerator
 smokestack, the Army  waited  four  hours before
 notifying county officials.  The public was not notified
 until Wednesday, May 10, she added.  Further, she
 pointed out, requests for basic information about the
 incident made by citizens during a public meeting
were ignored.

 Ms. Crowe stated that  the U.S. Environmental
 Protection Agency (EPA) is poised to grant the Army
a  permit to   burn  shipping  tubes   laden with
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polychlorinated biphenyls (PCB) in the incinerators.
The permit is applicable to any chemical weapons
incinerator, including the one in Anniston, Alabama,
she said, but a public hearing was held only in Utah.
Ms. Crowe pointed out that minority communities
should not be subjected to the risks that incinerators
capable of releasing live chemical agents pose when
safer non-incineration technologies have  passed
demonstration tests successfully.

Ms. Crowe then expressed  her belief that the
existing subcommittees of the NEJAC are  not well
equipped  to  handle  issues  related to  Federal
facilities.  She requested support from the NEJAC in
"pulling" permits for chemical weapons incinerators
in favor of safer, non-incineration technologies.

Mr.  Tom  Goldtooth,  Indigenous Environmental
Network  and  chair of  the Indigenous Peoples
Subcommittee of the NEJAC, stated that  he was
aware of several of the facilities Ms. Crowe referred
to.   Mr.  Goldtooth noted that the incinerator  at
Umatilla Army Depot,  Utah, burns toxic  materials.
That  issue already had been  identified as  an
environmental justice one, he said. He asked Ms.
Crowe to verify  whether the Umatilla Tribe has
opposed the facility since its initial siting. Ms. Crowe
verified that the tribe had expressed a number of
concerns about  the  site,  adding that  over the
preceding few months,  several problems had arisen
at the site.  Ms. Crowe  stated that 63 percent of the
stockpiled chemical weapons in Oregon are identical
to those stored in Maryland, where they currently
have  a  pilot  plan    under   construction  for
neutralization.  A number of people in that affected
community, including,  members of nearby tribes,
favor that  neutralization technology for  use  in
Oregon, she added.  Mr. Goldtooth also asked Ms.
Crowe whether the Utah facility still was in operation.
Ms. Crowe said that the  incinerator had been shut
down, on May 8, until the cause of the release of the
chemical agents could  be determined.

Ms.  Annabelle Jaramillo,  Oregon Office of the
Governor and Vice  Chair of the Air and Water
Subcommittee of the NEJAC, asked Ms. Crowe what
types of  chemicals  are involved in causing the
problems.   Ms. Crowe said that  the  types  of
chemicals involved are lethal chemical agents, nerve
agents, and mustard agents.

2.2 James Friloux,  Louisiana  Department of
    Environmental   Quality,   Baton   Rouge,
    Louisiana

Mr.  James Friloux,   Louisiana  Department   of
Environmental Quality  (LDEQ), Baton  Rouge,
Louisiana, reminded the members of the NEJACthat
they had toured the community of Norco, Louisiana
during the meeting held  by the NEJAC  in Baton
Rouge, Louisiana in December 1998.  During that
week, he continued, several industrial companies
had alerted the community to a possible  chemical
release. Citizens of Norco attended the meeting of
the NEJAC and, during one of the public comment
sessions, expressed their concerns about living next
to the  Norco industrial  complex,  he continued.
Following that meeting, Mr. Friloux said, he had
formed a panel  consisting of 30  members of the
community and  representatives of five industries.
Topics  discussed  by  the panel have  included
emergency response,  evacuation  routes, health
issues, and job training,  stated  Mr. Friloux.  Mr
Friloux expressed  his view that the meetings had
been very productive to date and that the formation
of the panel has fostered an open dialogue between
the citizens of the community and  their  industrial
neighbors.

Ms.  Rosa Hilda Ramos,  Community of Catano
Against Pollution and member of the Air and Water
Subcommittee of the NEJAC, asked Mr. Friloux what
efforts the state had made  to engage  affected
communities early in the Title V permitting process
under  the Clean  Air  Act (CAA).   Mr. Friloux
responded that  information  is shared  primarily
through a public hearing process. Ms. Ramos added
that the Title V process is a very  complicated one
that citizens find difficult to comprehend and that it is
necessary that  the  state  share information to
educate communities about the permits.  Ms. Ramos
then asked whether the state would be willing to
extend the comment periods for some of the Title V
permits  that have  passed  without  community
participation.  Mr. Friloux stated that the state had
extended comment periods several times at the
request of citizens.

2.3 Farelia  Esta   Robinson,   United   States
    Commission on Civil Rights, Kansas City,
    Kansas

Ms.   Farelia   Esta  Robinson,  United  States
Commission on Civil Rights, Kansas City, Kansas,
stated that her  organization had  been examining
environmental justice issues in Louisiana since the
early 1990s. The commission, she said, currently is
responsible for conducting fact-finding studies and
hearings on civil rights developments and issues
across the country. In 1993, the U.S. Commission
on Civil  Rights  released a report,  The Battle  for
Environmental Justice in Louisiana ... Government,
Industry,  and   the  People,  which  examined
environmental   concerns   in  Louisiana.   The
commission, she continued, currently is conducting
a follow-up study because the problems in Louisiana
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 continue to exist.  One of the recommendations
 made in the report was that EPA, state, and local
 officials consider Title VI of the Civil Rights Act of
 1964 (Title VI)  as an element of environmental
 justice and prohibit discrimination based on race.
 She invited the members of the NEJAC to a public
 hearing to assess successes and problems that
 continue following efforts made to implement the
 recommendations setforth in the commission's 1993
 report.

 2.4 Jerome Baiter, Public Interest Law Center of
    Philadelphia, Philadelphia, Pennsylvania

 Stating  that  he is  an attorney  who performs
 environmental work,  Mr.  Jerome Baiter,  Public
 Interest Law Center of Philadelphia, Philadelphia,
 Pennsylvania,  noted   that  all  his  clients  are
 community groups formed by minority populations
 who  are  experiencing problems with existing
 polluting facilities or proposed facilities.  Mr. Baiter
 explained that, since EPA releases its Title VI Interim
 Guidance for Investigating Administrative Complaints
 Which Challenge Permitting Decisions, he has been
 addressing issues related to Title VI. In his opinion,
 he  continued,  EPA's  interim guidance does not
 address the disparities in health conditions that exist
 in this country.  The guidance does not seek any
 information about the  health of the community in
 which the siting of a facility has been proposed, he
 added.  In response to that lack of information, the
 Law Center of Philadelphia developed an alternative
 guidance system,  or  an environmental justice
 protocol, he explained. The protocol is based on the
 philosophical concept that, if a community already
 has a disparately poor.health record, it should not be
 made to endure  the presence of another polluting
facility.

 Mr. Baiter explained that the law center examines
the health of a community on a comparative basis.
All data used for comparative analysis are extracted
from official state health data, he noted.  While a
community may not be familiar with the intricacies of
the toxic chemicals, its members are familiar with
their health, he explained.  Mr. Baiter stated that a
system based on health should be implemented to
replace   EPA's  proposed  impact  analysis  and
cumulative impact analysis, which do not address
the protection of communities.

Dr.   Marinelle Payton, School of Public Health,
Harvard University Medical School and chair of the
Health and Research Subcommittee of the NEJAC,
observed  that  the   Health  and   Research
Subcommittee would  like  to consider the issue
raised by Mr. Baiter.  Ms. Ramos then suggested
that Mr. Baiter engage in the process of commenting
 on EPA  regional environmental  justice  policies.
 Each EPA region must develop an environmental
 justice policy, she explained, suggesting  that Mr.
 Baiter work  with the  region  to  incorporate the
 concepts he had described into that policy.

 2.5 Doris Bradshaw,  Defense Depot Memphis,
    Tennessee, Concerned Citizens Committee,
    Memphis, Tennessee

 Observing that  a complaint system for  Federal
 facilities  is needed, Ms. Doris Bradshaw, Defense
 Depot Memphis,  Tennessee, Concerned  Citizens
 Committee,  Memphis,  Tennessee,  stated that
 emergency response and preparedness  are not
 addressed when removals of chemical weapons are
 carried out in her community. The community, which
 consists  primarily of older people, is adjacent to a
 60-acre landfill called Dunn  Field from which the
 U.S. Defense Logistics Agency (DLA) is removing
 chemical test kits that contain  mustard and nerve
 gases, DLA selected the emergency preparedness
 plan for the community, which is to "stay in place" in
 a worst-case  scenario,  she explained.  The plan is
 not adequate, she continued, because the people
 live on a dead-end street with a 40 foot wall located
 at the end of the street making  it impossible for
 those people  to be rescued by air lift in this "stay in
 place" scenario.  Further, she explained that DLA
 chose the middle of June to  remove the chemical
 test kits; at a time when the weather is hot and
 humid. This  "stay in place" scenario requires that
 residences stop using air conditioning, "stuff' towels
 under doors, and hang plastic sheets over windows
 to avoid contact with the air, Ms. Bradshaw stated.
 She  expressed fear that such procedures would
 cause high  incidents  of heat  related  deaths.
 According to Ms. Bradshaw, the more the members
 of the community approach DLA, the more retaliation
 the community is subjected to. EPA also had been
 unresponsive, she added.

 Ms. Bradshaw requested that EPA and the NEJAC
 implement a complaint system for Federal facilities
 so community voices can be heard.  Mr. Turrentine
 acknowledged Ms. Bradshaw's recommendation and
 noted that the issue would  be addressed by the
 subcommittees  during the week.  Mr. Turrentine
 stated that more research on the  Federal facilities
 issue would be needed before it could be determined
which direction the NEJAC should take,  but added
that   the  subcommittees   would  meet   with
 representatives  of the  Memphis community  to
 determine how they  can act on the issues Ms.
 Bradshaw had raised. Ms. Ramos then asked what
 role the local  emergency planning committee had
 played in  Ms. Bradshaw's community,  noting that
complaints can  be filed with that body.   Ms.
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Bradshaw  responded that  the local emergency
response committee had informed DLA that the
team was  not prepared to  deal  with a chemical
weapons emergency.   Ms.  Bradshaw  told the
members of the council that she would give them a
letter explaining  the situation  that  had  been
submitted to the highest-level official of DLA.  Ms.
Ramos  noted that the law requires that a local
emergency planning committee be maintained that
includes a representative of the community and that
it is important that the council address the lack of
community involvement in local emergency planning
in Ms. Bradshaw's community.

2.6 MaVynee  Oshun   Betsch,  A.L.   Lewis
    Historical Society, American Beach, Florida

Ms. MaVynee Oshun Betsch, A.L. Lewis Historical
Society,  American  Beach,  Florida,  began  her
presentation  by noting  that  she  is the  great-
granddaughter of A.L. Lewis, who was Florida's first
black millionaire.  A.L.  Lewis  founded American
Beach, a black beach community, in 1935, she said.
Ms.  Betsch  pointed  out that there  are three
telecommunications  towers in the community.  In
addition,  she  continued,  the   community  is
surrounded by beach  resorts, two paper mills,
several  military bases,  and  a  coal-fired plant.
Therefore, she stated, the air pollution is unbearable.
Black males in northeast Florida are more likely than
any other population to develop lung cancer, she
continued, and, blacks in general have a death rate
2.5 times higherthan that for whites. Developers are
building seven new condominiums and placing the
sewage treatment  plant right in her community, Ms.
Betsch said.

Ms. Betsch concluded by emphasizing that American
Beach is a very special  and historical place.  Ms.
Betsch  requested that the Health and Research
Subcommittee of  the  NEJAC encourage EPA to
investigate  air pollution cause by the towers. She
stated thatthe telecommunications towers "are going
up   like cancer"   that  primarily  affect  black
communities.

2.7 Sarah Craven, Sierra Club, Atlanta, Georgia

Ms. Sarah  Craven,  Sierra Club, Atlanta, Georgia,
informed the members of the council that she would
be discussing some examples of how the current
regulatory processes and state agencies delegated
authority by EPA are failing the communities they are
designed to protect.  Before the current year, she
said,  Alabama had  no  regulations  governing
concentrated  animal feeding operations (CAFO) for
hogs. The Alabama Department of Environmental
Management (ADEM) allowed the CAFO industry to
recommend regulations, which the public then was
allowed to  comment on,  she explained.  ADEM
appointed an environmental committee to provide
recommendations about  CAFOs to ensure the
protection of public health and environmental quality,
but ADEM subsequently neglected to accept any of
the significant recommendations, she stated.  As a
result, she continued, the regulations were written by
the corporations they were intended to regulate,
which has resulted in CAFOs operating 100 feet
from people's homes.

In Amelia,  Louisiana,  LDEQ issued a  permit for
hazardous  waste incinerator operated by  GTX
without  establishing any  rules or regulations to
govern the operations of the incinerator, Ms. Craven
continued.    The agency gave the  public  an
opportunity to voice concerns about the issuance of
the permit, but no  agency decision maker was
present during that event,  she stated. Ms. Craven
explained that the public was given only six weeks to
read an excessive amount of technical information,
learn to interpret that information, and provide
comments.  All the critical EPA health impact studies
that demonstrate that the facility poses health risks
were hidden from the public throughout the comment
period, she  said.

Ms. Craven pointed out that permit processes place
the expression of views by citizens at the mercy of
the agency, while the state agency justifies  its
decision on the basis of information provided by the
corporation  seeking  the  permit.  Agencies are
charged with protecting the public, she stated, but
they cater  instead,  to  the permitted industry.
Communities therefore are forced to use the  court
system  as  their  only recourse, and  affordable
representation is rarely available, she said.  Ms.
Craven  stated that agencies should perform risk
assessments, impact studies, and health studies
before the permit process  begins.

Mr. Luke Cole, Center on Race, Poverty, and the
Environment  and  chair  of  the  Enforcement
Subcommittee of the NEJAC, informed Ms. Craven
that the Enforcement Subcommittee was to hear a
presentation on CAFOs during its meeting on the
following day and welcomed her participation in that
meeting.

2.8 Jeannie   Economos,   Farm   Worker
    Association of Florida, Apopka, Florida

Stating that her organization represents more than
7,000  farm  workers in   Florida,  Ms. Jeannie
Economos,  Farm Workers Association  of Florida,
Apopka, Florida, expressed concern for the well-
being of farm workers because of  the nation's
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 National Environmental Justice Advisory Council
                          Public Comment Periods
 dependency on pesticides.  Farm worker health is
 jeopardized  by exposure to pesticides, she said.
 Despite the warnings set forth by Rachel Carson in
 her book Silent Spring (Houghton Mifflin Company,
 Boston,  Massachusetts,  1962),  the  pesticide
 situation is worse today than it was when that book
 was published, she stated, with thousands of new
 pesticides being approved every year.

 Methyl bromide is one of the most toxic pesticides
 and one of the most  widely used  today,  Ms.
 Economos continued.  Even though use of methyl
 bromide had been scheduled to be phased out by
 2001,  lobbying by "agribusiness" pushed the date
 back to 2005, she said. Ms. Economos pointed out
 that methyl  bromide is 50 times more potent than
 chlorofluorocarbons in destroying the ozone layer,
 which  leads to  increased cancer rates.  Instead of
 pursuing  sustainable  alternatives   like  soil
 solarization, integrated pest management, or crop
 rotation, agribusiness is looking for a "quick-fix," she
 stated. The Farm Workers Association currently is
 protesting the  use  of toluene-2, which is  being
 proposed by agribusiness to replace methyl bromide,
 she said.

 Ms. Economos  requested that EPA examine the
 pesticide  registration process  and research into
 alternatives to reduce the nation's dependence on
 pesticides, especially methyl bromide. Mr. Cole then
 pointed   out  that   methyl  bromide  has  a
 disproportionate effect on residents of homes and
 students in schools located near the fields on which
 it  is  used.    Mr. Cole  stated  that a Title  VI
 administrative complaint  had been  filed at  EPA
 because of exposure .to methyl bromide  in a Latino
 community in California, but, he said, the Agency
 had taken no action.  Mr. Arnoldo Garcia, Urban
 Habitat Program and  chair of the International
 Subcommittee of the NEJAC, stated that the issue
 was to be discussed during the meeting of the
 International  Subcommittee on the following  day.
 Mr. Fernando  Cuevas, Farm  Labor Organizing
 Committee  and  member of  the  International
 Subcommittee of the NEJAC, noted that  a friend of
 his suffered a coma in 1979 after three days  of
 exposure  to methyl  bromide  while working  in
 strawberry fields.   Ms. Ramos  pointed out the
 possibility  of  a  catastrophic  accident  while
transporting  methyl  bromide and stated that the
 NEJAC should not overlook the issue.

2.9 Chavel  Lopez,  Southwest Public Workers
    Union, San Antonio, Texas

Representing  the   Southwest  Network  for
Environmental and Economic Justice, Mr. Chavel
Lopez,  Southwest Public  Workers  Union,  San
 Antonio,  Texas,  stated  that  people of  color
 throughout the Southwest are organizing to create
 healthy communities.  The Southwest Network is
 composed of more than 70 grassroots organizations,
 trade unions,  and student groups throughout the
 southwestern   United  States  and  Mexico,  he
 explained.    For  years, he  continued,  their
 communities  have been  treated as  expendable
 members of society and have been exposed to toxic
 contaminants.  Health care institutions do not know
 how to deal with the sicknesses that are a result of
 exposure to toxic contaminants, Mr. Lopez said.

 Mr. Lopez pointed out that low-income, working class
 communities of color live in neighborhoods that are
 affected  disproportionately   by  environmental
 hazards.  In Los Angeles, California, a much higher
 percentage of Latinos and African-Americans than
 whites live in areas in which levels of air pollution are
 dangerously high. In addition, he continued, rates of
 lead  poisoning  and  asthma  among  African-
 Americans and Chicanes  are higher than  among
 whites. For Navajo teenagers, cancer rates are 17
 times the national average,  while uranium spills from
 mining activities on Navajo land occurfrequently and
 have contaminated their water, soil, and air, he said.
 U.S. farm  workers,  a  majority of  whom  are
 minorities, are poisoned every year by pesticides, he
 added.  The  disproportionate siting of polluting
 industries and  hazardous dumps in communities of
 color has contributed to the poisoning of their people,
 land, and air, he stated.

 Mr. Lopez called upon the NEJAC to ensure that this
 health crisis becomes a priority for EPA and all other
 Federal agencies responsible for protecting people's
 health and the environment.  He then submitted a
 summary of a  "health symptoms survey" that was
 conducted in San Antonio, Texas in communities
 contaminated by pollutants originating from Kelly Air
 Force Base. He stated that representatives of the
 Southwest Network had a productive meeting with
 Mr. Gregg Cooke,  Regional Administrator of EPA
 Region 6, and Mr.  Jerry Clifford, Deputy Regional
 Administrator of EPA Region  6, to discuss the
 contaminated areas in Texas.

 Ms.   Vernice   Miller-Travis,   Partnership  for
 Sustainable Brownfields Development and chair of
the Waste and Facility Siting Subcommittee of the
NEJAC,  asked  Mr.  Lopez  what  response  his
organization has received from the Air Force. Mr.
Lopez stated that the Air Force did not accept the
health symptoms survey.   The Agency for Toxic
Substances  and  Disease  Registry  (ATSDR)
conducted a health assessment and found high
cancer rates in certain areas, but did not attribute the
sicknesses to contamination originating from the Air
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Force  Base, he said.    Ms. Rose Augustine,
Tucsonans fora Clean Environment and Vice Chair
of the Health and Research Subcommittee of the
NEJAC, asked about the need for adequate health
care. Mr. Lopez responded that the community does
not have adequate health care and that a majority of
the people of the community cannot afford to meet
their medical needs.

2.10 Marvin Grafter, Wollfolk Citizens Response
    Group, Fort Valley, Georgia

Mr. Marvin  Crafter, Wollfolk  Citizens  Response
Group, Fort Valley,  Georgia, first stated that  five
minutes is insufficient time for representatives of
communities affected by the problems created over
the past 100 years to set forth their concerns.  He
then expressed a lack of trust in the NEJAC  and
EPA, stating that those entities had not done enough
to  reverse  the  problems   affecting   minority
communities today. The NEJAC has the reputation
of being "two-sided," he said, leaving the community
out of important decision-making processes. EPA is
supposed  to protect people, he continued, but the
record of what has been done over the past 15 years
shows that it has not done so, he stated.

Mr. Crafter informed the members of the council that
he recently had requested a list of recommendations
that the NEJAC had made to EPA, but that he  had
not received the information.  That experience, he
said, demonstrates to him that the actions of the
NEJAC have been inadequate to meet the needs of
communities  affected by environmental justice
issues.

Mr. Crafter stated that communities are tired of being
assessed, when immediate action  is necessary.
Requests  for health care have fallen on deaf ears,
he said. Mr. Crafter requested that the scope of the
NEJAC be expanded  to  include  a  group of
consultants to affected communities from each EPA
region who would serve as a conduit between the
NEJAC  and  communities   to  assist   in  the
identification and addressing of the needs of those
communities. He also suggested that a series of
pre-NEJAC national committee meetings and other
outreach  tools would facilitate the addressing of
community needs. Mr. Crafter then stated that too
much money is  spent to analyze research.  The
money would have been better spent on health care
for people in communities affected by contamination
originating from  Superfund  sites  and  Federal
facilities. He requested that the NEJAC recommend
EPA expand its  relationship with ATSDR to provide
health care funding for  communities affected by
contamination originating from sites on the National
Priority List (NPL) and Federal facilities.
2.11 Earnest    Marshall,    Ombudsman
     Development  Foundation  inc,  Atlanta,
     Georgia

Mr. Earnest Marshall, Ombudsman Development
Foundation Inc., Atlanta, Georgia, mentioned that
environmental conditions in several neighborhoods
in Atlanta, Georgia are causing numerous illnesses.
The University of Georgia's wastewater treatment
facility discharges waste into the Oconee River and
there is questionable dumping of radiation feed for
chickens, supposedly to make their chickens bigger,
he said. Members of minority communities who live
in close proximity to a former General Motors site
that once manufactured munitions are becoming ill,
but they do not understand why, he added. ATSDR
and EPA examined that site, but nothing was done
beyond some research, he said.

Justice should be  sought  under  Executive order
12898 on environmental justice, Mr. Marshall said.
Georgians have been told that they can no longer
eat fish from the Savannah River because of tritium
contamination, he pointed out. If EPA Region 4 is to
gain credibility, he stated, the region must deal with
the state of Georgia and with contaminated sites in
the region, he stated.

2.12 Henry   Rodriguez,   Native   American
     Environmental Protection Coalition, Valley
     Center, California

Stating  that he is a resident of the La  Jolla
Reservation in north San Diego County, California,
Mr.  Henry  Rodriguez,  Native   American
Environmental Protection Coalition, Valley Center,
California, informed the members of the council that
a landfill had been sited next to a  river on that
reservation.  The proposed landfill would be located
adjacent to Medicine Mountain, where coming of age
ceremonies are held,  he explained. Mr. Rodriguez
questioned the wisdom of siting a landfill adjacent to
a river. At a recent meeting in California, he added,
engineers had discussed the technical aspects of the
landfill,  but  did  not  consider  its effect  on the
community.   Mr. Rodriguez  requested  that the
NEJAC examine the issue.

2.13 Elodia Blanco, Concerned  Citizens  of
     Agriculture Street Landfill, New Orleans,
     Louisiana

Stating that her community overlies a toxic landfill,
Ms. Elodia Blanco, Concerned Citizens of Agriculture
Street Landfill, New Orleans, Louisiana, described
the  development  of   her  African-American
community.  The U.S. Department of Housing and
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 Urban Development (HUD) had approved funds
 under a Federal grant  to  allow the city of New
 Orleans to build the community on top of a toxic
 landfill, she explained.  She pointed out that no
 efforts were made to inform new homeowners about
 the  landfill underlying their property when they
 purchased the homes.   The  Agriculture  Street
 Landfill covers 100 acres and was in use from 1910
 until 1960, she stated. Exposure to more than 150
 toxins, heavy metals, and carcinogens  has led to
 elevated incidences  of  birth defects and breast
 cancer in her community, she added.

 Ms. Blanco, stated that several attempts had been
 made to recommend that EPA Region 6 support
 relocation of the community, but those attempts were
 ignored. The remediation plan proposed by EPA will
 clean only 10 percent of the site and will increase the
 risk of broken water lines,  she  said.  Ms. Blanco
 urged the council to take the necessary steps to
 request that EPA consider a relocation  plan.  Ms.
 Miller-Travis suggested that representatives of Ms.
 Blanco's organization speak with Mr. Kent Benjamin,
 Outreach and  Special Project Staff, EPA Office of
 Solid Waste and Emergency Response (OSWER),
 and Designated Federal Official (DFO) of the Waste
 and Facility Siting Subcommittee.

 2.14 Jerilyn  Lopez  Mendoza, Environmental
     Defense, Los Angeles, California

 Ms. Jerilyn Mendoza, Environmental Defense, Los
 Angeles, California, stated that her  organization
 focuses on ensuring  equal  access to clean parks
 and  schools for  children, ensuring transportation
 equity, and alleviating exposure to toxics.  Several
 ongoing campaigns  in  Los Angeles are related
 specifically to environmental justice,  she said.
 Expansion of the Los Angeles International Airport
 will  have  direct  effects  on  the   neighboring
 community, Inglewood, she stated. Airport traffic is
 projected to almost double by the year 2020, she
 explained, which would increase the environmental
 degradation already suffered in the predominantly
African-American community, which includes noise
 pollution and air pollution  related to diesel emissions
from airplanes and trucks. Environmental Defense,
 in conjunction with a number of other organizations,
 is attempting  to persuade airport  authorities to
 address environmental equity and justice issues in
their planning, she said. Ms. Mendoza said that
 Environmental Defense also is working to encourage
those  authorities  to  promote  participation  by
communities in the planning process.

 In addition, Environmental Defense is working with
environmental  and community groups to increase
the amount of green space for children in Los
 Angeles, she said.  Ms. Mendoza explained that, in
 Los Angeles, there is a vast disparity in green space
 in communities; that disparity, she pointed out, is
 related directly to race and income. Chinatown, a
 predominantly Asian section of Los Angeles, has no
 open space, no parks, and no schools, she stated.
 Environmental  Defense is working to persuade the
 city to commit a 47-acre plot of unused land in the
 community  for use for schools and parks.   Ms.
 Mendoza stated that she would appreciate speaking
 with anyone on the council who had any insight into
 these issues she had raised.

 2.15 Donald Brown, People for Environmental
     Progress  and  Sustainability,   Vallejo,
     California

 Mr.  Donald Brown,  People for  Environmental
 Progress  and  Sustainability,  Vallejo,  California,
 stated  that there  is  a  need  to  clearly define
 environmental justice and the relationship of  that
 concept to the civil rights movement. He added that
 there is a communication gap between industry and
 the communities in matters related to environmental
 justice.  He pointed  out  that representatives of
 industry never attend meetings of the NEJAC.  Mr.
 Brown stated that our country focuses many of its
 resources on problems that occur abroad; that focus
 limits what is done about contaminated communities
 in our country. While the global economy is moving
 forward rapidly, he continued, the problems that
 existed in minority communities years ago persist
 today. Mr. Brown emphasized that the time to act is
 now and that people must "stick together" and trust
 each other to effectively achieve their goals.

 Ms. Patricia Hill Wood, Georgia Pacific Corporation
 and  member of the Waste and  Facility  Siting
 Subcommittee of the NEJAC, stated that a number
 of industry representatives were in attendance at the
 meeting.  Those representatives  she said,  are
 concerned about environmental justice issues.  Ms.
 Wood stated that several members of the NEJAC
 are industry representatives. Mr. Brown responded
that he hoped  Ms.  Wood  would  make resources
 available to  cleanup communities.  He stated that
 industry pays for remediation when a certain incident
 occurs but does not  change processes or actions.

2.16 Bill  Burns,   Environmental  Awareness
    Foundation, Atlanta, Georgia

 Stating that  his organization addresses household
 health hazards, Mr.  Bill  Burns,   Environmental
Awareness Foundation, Atlanta, Georgia, stated that
 lead poisoning is a significant problem in the state of
Georgia. According  to Mr. Burns, the city of Atlanta
does not have a telephone contact that people in the
Atlanta, Georgia, May 23 and 24,2000
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Public Comment Periods
     National Environmental Justice Advisory Council
city can call  to  obtain  information about  lead
poisoning, a situation that his organization would like
to  change,  he  stated.    He  said  that  the
Environmental Awareness Foundation had gathered
statistics and  facts that demonstrate  that  lead
contamination and asthma are significant problems
in communities in Atlanta.  Mr. Burns  asked for
advice from the NEJAC about how he can obtain
information, funding,  and resources to allow the
community to address the issue.

Dr. Payton asked Mr. Burns whether there is a lead
poisoning  prevention  program  in  the state  of
Georgia. Mr. Burns responded that Georgia had
reimplemented its lead poisoning program, but noted
that the program is not reaching the community. Ms.
Peggy Shepard, West Harlem Environmental Action;
member of the Health and Research Subcommittee
of the NEJAC; and Vice Chair of  the  Executive
Council, suggested  that  the  Environmental
Awareness Foundation consider applying for an EPA
environmental justice grant to acquire resources to
undertake a community education campaign.

2.17 Samara Swanston, Sierra Club, Brooklyn,
    New York

Noting that she would be speaking on behalf of two
organizations, Ms. Samara Swanston, Sierra Club,
Brooklyn, New Y9rk, stated that the National Sierra
Club is opposed to the National Association of Home
Builders (NAHB) bill. The NAHB bill is brownfields
legislation that would permit owners to build homes
on contaminated land and would abrogate EPA's
enforcement authority under  the Comprehensive
Environmental  Response,  Compensation,  and
Liability  Act (CERCLA) in  a situation in which
imminent and substantial danger exist because a
home builder wanted to construct homes on
contaminated land, she said. Under current law, she
continued, EPA has the authority to order a polluter
to stop  a release or a threatened release and  to
impose fines if the polluter fails to cooperate.  The
proposed NAHB bill weakens Federal provisions
under CERCLA that  protect communities from
economic, health, and environmental consequences
resulting from inadequate cleanup of Superfund
sites,  she explained.  Ms. Swanston stated that
under the NAHB bill, the ability of EPA and the public
to provide oversight of brownfields sites is impeded
by provisions that allow the state to withhold the
names  and  locations  of  facilities  undergoing
voluntary cleanup.

Ms. Swanston stated that the Sierra Club would like
to propose  stringent cleanup standards to protect
human  health,  retention  of Federal enforcement
authority, and provision of financial assistance  to
help communities assess and remediate brownfields
properties.  She also pointed out that substantive
public participation should be provided for early in
the brownfields redevelopment process.

Ms.  Swanston  then stated  that  she also was
speaking  on behalf of  Minority Environmental
Lawyers who represent a community group in Dobbs
Ferry,  New York that is working to protect a
historical,  indigenous site.   According to  Ms.
Swanston, the site qualifies for listing on the National
Register of Historic Sites. The state of New York is
allowing the destruction of cultural sites like the one
she had described, she said. Ms. Swanston read a
letter prepared  by the director of  the community
group that  stated that the sacred site had been
desecrated by the siting there of a demolition landfill
and the construction of townhouses. Ms. Swanston
added that, every year, a bill is brought  before the
New York state legislature to protect such sites that
are not on a reservation, but the legislation never
passes, she  said.    The  NEJAC and  the  U.S.
Department of the Interior (DOI) should take action
against the state of New York if the state continues
to allow the destruction of archaeological sites, she
declared.

Ms.  Miller-Travis asked Ms. Swanston about the
status of the NAHB bill in Congress. Ms. Swanston
replied that EPA supports the bill and that it probably
would be introduced.

2.18 Michelle Xenos, Shundahai Network, Las
     Vegas, Nevada

Noting that she had  spoken at the meeting of the
NEJAC in Arlington, Virginia, in December 1999, Ms.
Michelle Xenos, Shundahai Network, Las Vegas,
Nevada, stated that she lives an hour south of the
Nevada Nuclear Test Site, where the proposed
Yucca Mountain high-level nuclear waste dump is to
be located. There is a lack of monitoring of Federal
facilities, she pointed out, and the  public does not
have access to U.S. Department of Energy (DOE) or
DoD information about environmental effects.  Ms.
Xenos explained that she grew up on an island on
which  more than 3,000  nuclear  weapons were
located and near a  location at  which millions of
gallons of radioactive waste had been dumped into
Pearl Harbor. Breast cancer rates in that area are
10 times higher than average,  she  stated.  The
environmental effects of nuclear weapons are felt
throughout the  process of nuclear development,
from uranium mining to detonation, she continued.
Ms. Xenos requested that the NEJAC establish a
subcommittee to examine the operations of Federal
facilities because, she stated, "they  are  not held
accountable for anything."
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               Atlanta, Georgia, May 23 and 24,2000

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                          Public Comment Periods
 2.19 Jay Gilbert Sanchez, Tribal Environmental
      Watch Alliance, Espanola, New Mexico

 Mr.  Jay Gilbert Sanchez, Tribal  Environmental
 Watch Alliance, Espanola, New Mexico, stated that
 he lives near the Los Alamos National Laboratory.
 Mr. Sanchez acknowledged that EPA does not have
 the authority to monitor DoD and DOE, both of
 which, he charged, operate without considering the
 effects of those operations on human health and the
 environment. Stating that he also is the chairman of
 the People of Color Disenfranchised Communities,
 Mr. Sanchez explained that the effect of Federal
 facilities  extends  beyond  the  United  States  to
 adversely affect people in Puerto  Rico, U.S. western
 territories, and the Pacific Ocean.

 Mr. Sanchez discussed the fire at the Los Alamos
 National Laboratory  that had been  burning for 14
 days. He explained that  air quality is  declining,
 stating that the air pollution caused by the fire "will be
 around  forever."  Mr.  Sanchez asked  that the
 members of the NEJAC address the issue of Federal
 facilities  and the effects of their operations.

 Mr. Goldtooth asked Mr. Sanchez whetherthere was
 evidence of radioactive contamination outside the
 facility that  could have been released  into the
 atmosphere  during  the   burn.    Mr.   Sanchez
 responded that the  flora and fauna  around the
 laboratory are contaminated. Mr.  Clifford stated that
 the  New Mexico environmental department had
 asked EPA  Region 6  to  conduct additional air
 sampling, beyond that performed by DOE.  There
 was  concern not only about plutonium in the
 concrete vaults, he continued, but also about the
 solid  waste management units throughout the site
 that are contaminated with chemical and radioactive
 wastes. Data from 20 air monitors, Mr. Clifford said,
 indicated no increase in radiation as a result of the
 fire. Mr.  Clifford confirmed that air monitors did not
 begin  operating until several  days after the fire
 began. Mr. Sanchez pointed out that the wind had
 not been blowing in the direction of the monitors. Mr.
 Sanchez reiterated that he has firsthand proof that
 there is contamination  on the site.  How can the
 government be trusted, he stated, when it is obvious
 that its representatives are not being honest with
 American citizens.

 2.20 Teresa  Juarez,   New   Mexico  Alliance,
     Chimayo, New Mexico

 Ms. Teresa Juarez, New Mexico Alliance, Chimayo,
 New Mexico, expressed her dismay about the variety
 of issues and concerns in communities described by
cornmenters  who had  preceded her.   She then
explained that  she  lives  near  the Los  Alamos
controlled burn  site that had been  burning out of
 control for days.  "Nobody knows what kinds of
 contaminants are being released into the air people
 are breathing," she said, pointing out that many of
 the burned houses also contain asbestos.  People
 were  told  that  plutonium  at the  Los  Alamos
 Laboratory was enclosed in concrete vaults and that
 there  was nothing to worry about, she said, but,
 months earlier, a meeting was held at which 450
 workers expressed  concern about contamination
 buried around the site and elevated cancer rates.
 Ms. Juarez  demanded  of  the  council  that a
 subcommittee be established  to  address  issues
 related to Federal facilities.

 Ms. Juarez pointed  out  that  a majority  of  the
 firefighters  on site were  Native Americans  and
 Hispanics and that they were not properly protected.
 "When the government can prove to us that there is
 no contamination, then we  will be satisfied," she
 said. Mr. Cole stated that it is not credible that a fire
 of such magnitude can burn without increasing the
 level of chemicals in air. Mr. Clifford then stated in
 clarification  that  the  levels   of  chemical  and
 radioactive contamination  the monitoring indicated
 were no higher than those that  would be found
 during a typical forest fire.

 2.21 Mark Mitchell,  Connecticut Coalition for
     Environmental   Justice,   Hartford,
     Connecticut

 Mr.  Mark  Mitchell,  Connecticut  Coalition   for
 Environmental Justice, Hartford, Connecticut, stated
 that his  group  provides  assistance  to  local
 organizations in Connecticut. A few years earlier, he
 continued,  the  group   formed  the  Hartford
 Environmental Justice Network.   Hartford is  78
 percent black and Latino,  he  pointed  out,  and
 incomes in the city are very low in a state that is very
 wealthy. Hartford has more waste disposal facilities
 than any other city in the state of Connecticut, the
 largest sewage treatment plant and sewage sludge
 incinerator in  Connecticut, and the largest trash
 incinerator in the state,  he  said.   The trash
 incinerator has an average of 100 fire calls per year,
 as well as a major explosion or fire approximately
 once a month, he added.  Eight  regional  waste
 facilities and four power plants  are located in the
 eight-square-mile area surrounding the community,
 he said.

 Mr.  Mitchell  pointed  out   that  the  Hartford
 Environmental Justice  Network has  had several
 successes, including the removal of a power plant
that  was built without any  public notification  or
 hearings.   In addition, he said, the  organization
 persuaded the city council  to ban a ninth regional
waste facility.  Mr. Mitchell  stated that the group is
very concerned about the city's asthma rates, which,
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     National Environmental Justice Advisory Council
he said, are the highest in the country.  Forty-one
percent of the community's children have asthma, he
explained.  He requested that the NEJAC address
the asthma epidemic in Hartford's communities and
that  EPA fund  research  into alternative waste
disposal  technologies   that  would   eliminate
hazardous air pollutants.

Ms. Miller-Travis asked Mr. Mitchell whether he had
conversed   with   Ms.   Jane  Stahl,   Assistant
Commissioner of the Connecticut Department of
Environmental Protection and member of the Health
and Research Subcommittee. Mr. Mitchell stated
that representatives of his organization had spoken
with Ms. Stahl and that the organization has a good
relationship with her department. Ms. Miller-Travis
informed Mr. Mitchell that Ms. Stahl is a member of
the NEJAC, suggesting that he discuss with Ms.
Stahl the specific initiatives and actions he would like
the NEJAC to take. Mr. Mitchell stated that some of
the research should be funded on the Federal level,
stating that such funding was the purpose for which
he had brought  the  issue to the  NEJAC.   Ms.
Shepard asked what relationship the organization
has with the state Department of  Environmental
Protection's Office of Environment Equity.   Mr.
Mitchell stated that the organization worked closely
with that office, but that progress is slow.

Mr. Charles Lee, Associate Director for Policy and
Interagency Liaison, Office of Environmental Justice
(OEJ), EPA Office of Enforcement and Compliance
and Assurance (OECA) and DFO of the Executive
Council, requested that Mr. Mitchell elaborate on the
recommendation  that the NEJAC  examine  the
asthma epidemic. Mr. Mitchell responded that there
is  a  link between air pollution  and  respiratory
illnesses. EPA should address those relationships,
he said. Mr. Lee  pointed out to the members of the
NEJAC that one approach to addressing health
issues related to environmental justice is to examine
specific diseases and illnesses. Mr. Mitchell pointed
out that, in the United States, asthma is an epidemic
that  affects  urban  areas  and  minorities
disproportionately.

222 Le Vonne Stone, Fort Ord Environmental
    Justice Network, Marina, California

Noting that  she  had spoken before the  NEJAC
several years earlier, Ms. LeVonne Stone, Fort Ord
Environmental Justice Network, Marina, California,
explained that  Fort  Ord  is one  of the  largest
Superfund  sites  in the  country.  The goal of  her
organization when she spoke before the  NEJAC
earlier was to secure help for affected communities
through the establishment of health clinics and
through testing for contamination, she explained.
She said that smoke from emissions, detonations,
and large burns aggravates respiratory problems,
especially in sensitive children and adults. Even the
Federal workers are concerned about the safety of
their work environment,  she pointed  out.   The
communities  have  seen their  economic  base
deteriorate because of the closing of massive
facilities,  she continued.   Those  areas must be
cleaned up to ensure the safety of communities, she
stated. The local Army environmental division has
spent more than $350 million on the cleanup of Fort
Ord since 1993, but no health clinics  have been
established in affected communities, she explained.

Ms. Stone stated that  she wants to see the site
cleaned  up and that the community  should be
involved in the process. Mr. Turrentine explained
that, before the end of the current meeting, the
NEJAC hoped to develop a process for dealing with
issues  related to Federal facilities.  He stated that
the NEJAC hoped to establish a working group that
will initiate interaction with members  of affected
communities.   Ms. Stone  indicated  that she also
would  like to  see an end to the intimidation and
harassment of  individuals in the community who
bring up health issues.

2.23 Rabbi    Dan    Swartz,    Children's
    Environmental Health Network, Washington,
    D.C.

Rabbi Dan Swartz, Children's Environmental Health
Network, Washington, D.C., explained that the same
forces  that exploit people for racial or economic
reasons also exploit children because of their lack of
political and economic power. Rabbi Swartz said he
recently had attended a private seminar on children's
environmental  health   sponsored   by  the
Congressional Research  Service.  He expressed
concern about policies that might result from the
meeting,  pointing out that many of the participants
were representatives  of  polluting industries who
claim that the  public already is protected by existing
environmental standards. No minorities attended the
seminar,  he added, and the issue of environmental
justice  would not have been brought up if he had not
done so.

Rabbi  Swartz  pointed out that  many of  the
protections currently  implemented  on behalf  of
children may disappear, including the abolition of the
Office of Children's Environmental Health Protection
in two years.  It is time to think about the future, he
stated, and  to  plan for our children's health,
especially  that  of   those  who  suffer   from
environmental discrimination.
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               Atlanta, Georgia, May 23 and 24, 2000

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National Environmental Justice Advisory Council
                          Public Comment Periods
2.24 Jim MacDonald, Pittsburg Unified School
     District, Pittsburg, California

As an elected official of the Pittsburg Unified School
District, Mr. Jim MacDonald, Pittsburg Unified School
District, Pittsburg, California, stated that it is  his
responsibility to look after the health and welfare of
the children in his district.  Mr. MacDonald pointed
out that state and Federal agencies are  rewriting
what  constitutes  an   environmental   justice
community. He explained that the California Energy
Commission  requires  that a community have a
population of at  least 130,000 before they  will
consider environmental justice.   His city has a
population of 60,000, he continued.  Even though
that population is 70 percent minority, the community
is not considered a minority community for purposes
of consideration of environmental justice, he said.

The Pittsburg Unified School District requested that
EPA Region 9 designate the city an environmental
justice community, Mr. MacDonald said. He pointed
out that there are four major power plants and four
minor power plants,  a  major  chemical facility, and
several refineries in  the city.  EPA responded that
the Agency does not  have the authority to designate
environmental justice communities, he said.  The
Pittsburg Unified School District filed a complaint
against EPA  Region 9 with EPA's Office of Civil
Rights (OCR) for violation of Title VI, he stated. EPA
is at fault, Mr. MacDonald continued, because  the
Agency is supposed to enforce environmental justice
regulations. Environmental impact reports should be
required in minority and low-income school districts
and should be presented to the school district, not to
EPA, he said.

2.25 Jackie   Ward,   Southern   Organizing
     Committee  for   Economic   and  Social
     Justice, Brunswick, Georgia

Ms. Jackie Ward,  Southern Organizing Committee
for  Economic and  Social  Justice, Brunswick,
Georgia,  read a letter sent to Ms. Connie Tucker,
Southern Organizing Committee for Economic and
Social  Justice,  Brunswick, Georgia and former
member   of  the   Waste   and  Facility  Siting
Subcommittee of  the NEJAC, by Reverend  Zack
Lyde,  Save  the  People,  Brunswick,  Georgia.
Reverend Lyde explained that his mother had fallen
ill because of toxic shock.  Her illness originally had
been misdiagnosed as  liver cancer,  he wrote.
Toxicity  in  a  community  is  not  taken  into
consideration when performing a medical diagnosis,
he stated. Reverend Lyde stated that the NEJAC
should investigate lack of health  insurance and
misdiagnosis  of   illnesses  in   contaminated
communities.  He  also  recommended that  the
NEJAC establish a pollution victims compensation
fund to receive revenue from a pollution tax on all
releases reported to the  Toxic Release Inventory
(TRI).  Such a tax also would serve to encourage
industries to reduce toxic discharges, he wrote.

2.26 Fred  Lincoln, Wando Concerned  Citizen
     Committee, Wando, South Carolina

Stating that he lives in a small African-American
community, Mr.  Fred  Lincoln, Wando Concerned
Citizen  Committee,  Wando,  South  Carolina,
explained that the community has been inundated
with pollution from chemical plants and steel mills.
According to Mr. Lincoln,  no environmental impact
study was performed and no community hearing was
held when a chemical plant recently was sited "right
in the middle of the community." Currently, a railroad
route  is  proposed  that  would run  through  the
community, displacing 30  percent of the homes, he
said.   The community was not  notified  of  the
meetings held between the  U.S.  Army Corps of
Engineers (USAGE), EPA, and the port authority of
South  Carolina, he stated. Mr. Lincoln stated that
EPA is supposed to protect  citizens and that the
community should have  been notified  about the
railroad  before  the   decisions  became  final.
Members of the community are concerned that their
community was chosen arbitrarily to be destroyed
when there is vacant property nearby that could have
been used to house the facilities, he said.

2.27 Adora Iris Lee, United Church  of  Christ
     Commission   for   Racial   Justice,
     Washington, D.C.

Rev. Adora  Iris  Lee, United Church  of  Christ
Commission for Racial Justice, Washington, D.C.,
submitted a written report  to the Executive Council.
For 60 years, the U.S. Navy has used the island of
Vieques, Puerto Rico as  a target range, causing
human  health  problems  and   environmental
degradation, she said.  The United Church of Christ
Commission for Racial Justice urged the council to
investigate EPA's  plans  to cleanup the affected
areas,   investigate  health-related   problems  in
Vieques, and continue to  deny the  U.S.  Navy
permission to conduct bombing activity that results
in discharges into the water, she stated.

2.28 Maria Elena Lucas, Farm Worker, Arlington,
     Texas

Ms.  Maria  Elena Lucas,  farm worker, Arlington,
Texas, stated that she has been  a migrant farm
worker all her life and that therefore she has suffered
lifelong exposure to many chemicals and pesticides.
In  1988, she  continued, she experienced  an
accidental exposure that had a lasting effect on her
memory and a variety of other neurological functions.
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 Public Comment Periods
      National Environmental Justice Advisory Council
Ms. Lucas explained  that she continues  to have
numerous problems. She stated further that hers is
not an isolated case. She pointed out that migrant
camps  are  located next to the fields on which
pesticides are applied. Research on pesticides and
exposure to pesticides has been insufficient, she
said.

Mr. Garcia noted that Ms. Lucas was to attend the
meeting of the International Subcommittee, and that
she was to make a presentation to that body.  He
reiterated that there are thousands of cases like that
of Ms. Lucas today.

Closing the public comment period for the evening,
Mr. Turrentine referred to the videotape "Eyes on the
Prize,"  noting that issues that were  focused on
during the civil rights movement are still at play
today. It is troubling, he observed, that communities
must come  begging to the  NEJAC to  make their
problems known, he said. He stated that the NEJAC
must begin to realize results. Ms. Augustine stated
that there is a need to evaluate whether the NEJAC
is accomplishing its goals and whether the NEJAC is
representative of the people it  is supposed  to
represent. Mr. Cole then stated that such remarks
should  be  presented to  the  Administrator  to
encourage EPA to begin to respond to the advice the
NEJAC gives the Agency.

  3.0  FOCUSED PUBLIC COMMENT PERIOD
            HELD ON MAY 24, 2000

This section summarizes the comments presented
to the Executive Council during the public comment
period on May 24, 20.00, along with the questions
and observations those comments prompted among
members of the Executive Council.

Comments are summarized below in the order in
which they were offered.

3.1 Mable Anderson, Village Creek Human and
    Environmental  Society,   Birmingham,
    Alabama

Indicating that she would  discuss two issues, Ms.
Mable  Anderson,  Village  Creek  Human  and
Environmental  Society,   Birmingham,   Alabama,
stated that she recently had returned to Alabama to
lead  her  community  in   the  battle  against
environmental injustice.  She stated that water in
Village Creek, polluted as a result of agricultural and
industrial activities, tends to  flood people's homes.
In  1997, she   said,  the  Federal  Emergency
Management Agency (FEMA) provided a buyout of
$5 million for relocation of 125 homes.  However,
she continued, people still have cancer, asthma, and
other health problems to deal with.  Ms. Anderson
complained that universities and other groups that
study contamination in  the community neglect to
inform the community of the types of studies they are
doing, charging that such groups do  not know what
the community's health problems are. Ms. Anderson
informed the NEJAC that her organization needs
funding to implement a health proposal developed by
the community. She requested the NEJAC's help in
funding such a proposal and informing other Federal
agencies about it.

Ms. Anderson added that her organization also was
requesting the NEJAC's help in conducting a creek-
bank restoration project intended to  improve water
flow. One high school is located on the bank of the
creek, and another is under construction on the
bank, she stated. She noted that school authorities
do not know that the waters are contaminated with
agricultural and industrial wastes.   Ms.  Anderson
stated that the community wishes to reclassify the
area of the creek bed from industrial and agricultural
use to residential use.

3.2 Karl   Fuller,   Pechanga   Environmental
    Program, Temecula, California

Mr. Karl Fuller, Pechanga Environmental Program,
Temecula, California, a resident of the Pechanga
Indian Reservation, stated that a draft environmental
impact statement  had been prepared  to  build a
landfill in Gregory  Canyon, California. Five Indian
reservations lie in the  immediate vicinity  of the
proposed landfill site, he said.  The landfill would
affect Indian tribes disproportionately, he explained,
because the tribes do not generate large amounts of
waste; therefore, the effect the facility would have on
the tribes cannot be justified, he declared.

Mr. Fuller pointed out that important village  and
ancestral sites of the Pala Band of Mission Indians
are found in Gregory Canyon and Mount Gregory
and that these sites are sacred for the Luiseno Tribe.
The environmental impact statement addresses that
issue to some extent, he said, and the  proposed
project  includes  the preservation  of  areas at
relatively  high  elevations  on  Mount  Gregory.
However,   Mr.  Fuller   explained,   the  sacred
ceremonies are conducted at sites at all elevations,
not solely at the top of the mountain. Odors  and
other undesirable effects of a waste facility would
desecrate the site, no matter what efforts might be
taken to mitigate those effects, he said.

Another issue the  impact  statement  does  not
address sufficiently, he stated,  are the potential
effects  the  proposed  landfill  might   have  on
groundwater in the  area.   Water from  Gregory
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 National Environmental Justice Advisory Council
                           Public Comment Periods
 Canyon, he continued, can be dispersed to many
 different water supplies, such as the San Luis Rey
 Water Basin.   He explained that the mitigation
 measure intended to protect the water supply puts a
 limit on the quantity of water that the applicant is
 liable  for if contamination should occur;  he then
 expressed the opinion that the limit is too low. In
 conclusion, Mr. Fuller stated that enforcement also
 is included in the environmental impact statement as
 a mitigation measure, observing that enforcement is
 not an adequate form  of mitigation.

 3.3 Cecil   Corbin-Mark,    West   Harlem
     Environmental Action, New York, New York

 Mr. Cecil Corbin-Mark, West Harlem Environmental
 Action, New York, New York, stated that, despite
 substantial improvements in  the nation's  health,
 minorities  still  fare  worse  than  their  white
 counterparts. Disparities in health status persist, he
 explained,  and  communities   of  color  suffer
 disproportionately  from  a variety  of illnesses.
 Current disparities demonstrate the need for the
 development of strategies to address the health
 problems of minority  communities, he said.  He
 pointed out that the development of strategies to
 reduce  such  health  disparities   require  that
 policymakers  be educated about  environmental
 conditions  in minority communities and that the
 social   environment  of  such  communities  be
 examined.

 West Harlem Environmental Action has worked for
 the past five years to promote community-based
 research for the benefit of the  Northern Manhattan
 Community Reserve, said Mr. Corbin-Mark.  That
 effort is being  accomplished through collaborative
 partnerships,  he  explained.    The   first study
 conducted by the group involved exposure to diesel
 fuel exhaust and lung function among adolescents in
 Harlem, he stated.  The study,  he pointed  out,
 showed that 76 percent of participating students had
 been exposed to detectable levels of  diesel fuel
 exhaust.  By  presenting air  monitoring data  to
 policymakers, the group hopes to help bring about a
 change in policies that affect air quality in minority
 communities, he explained. He noted that, after 13
 years of fighting, New York City finally is beginning to
 use clean-fuel buses to reduce diesel exhaust. Mr.
 Corbin-Mark requested that the NEJAC examine
 some of the models produced  under West Harlem
 Environmental Action's partnerships and call upon
 EPA to provide  more funding for the research and
 approaches those models demonstrate.  In addition,
 Mr. Corbin-Mark recommended that EPA reestablish
the  Community-University  Partnership  grant
program.
 3.4 Michael  Lythcott, The Lythcott Company,
     Marlboro, New Jersey

 Mr.  Michael   Lythcott,  The  Lythcott Company,
 Marlboro,  New Jersey and Relocation Advisor for
 Citizens Against Toxic Exposure, Pensacola, Florida,
 provided the  Executive Council of the NEJAC an
 update on the progress of the national Superfund
 relocation  pilot project  underway  in Pensacola,
 Florida.    Since  the meeting  of  the NEJAC  in
 Arlington,  Virginia  in  December 1999, he said,
 representatives of EPA Region 4 have demonstrated
 due diligence in responding to and investigating
 every allegation and  problem  brought  to their
 attention, he said. Mr. Lythcott then pointed out that
 the relocation  differential payment remains a crucial
 issue. He explained that, after property has been
 appraised, the resident searches for a house at a
 comparable price in a clean  neighborhood.  Such
 houses almost always cost more than the appraised
 value of the contaminated property. There is money
 available to make up the difference between the
 appraised  value and the cost of the replacement
 housing, he continued.  However, he pointed out,
 owners who do not reside at the affected property
 are not eligible to receive any of that money.  That
 policy, he said, is discrimination, noting that property
 owners, who do not live at the affected property,
 should not suffer financially because of relocation.

 Mr. Lythcott also stated that some residents remain
 "trapped" at the Escambia Arms Apartment complex
 because they are  unable  to afford the  move
 themselves, and EPA and the USAGE will not offer
 those residents any help until Escambia Arms comes
 to agreement with the government. Escambia Arms
 Apartments are located in Pensacola, Florida, near
 the Superfund site associated with the abandoned
 Escambia  Wood Treating Company.   Residents
 there are living in toxic conditions,  he  stated, and
 they suffer from numerous  health problems.  In
 addition, he continued,  babies are being born with
 birth defects. Mr. Lythcott requested access to the
 negotiations between Escambia Arms Apartments
 and EPA so that he can inform the residents of the
 status of the relocation process.  He also requested
 that the NEJAC help him obtain a copy of a report
 being prepared by HUD on the living conditions in
 the apartment complex that is to be used in pressing
 for a quick settlement.

 3.5 Lionel  Dyson, Public Interest Law Center of
    Philadelphia, Philadelphia, Pennsylvania

 Mr. Lionel  Dyson,  Public Interest Law Center of
 Philadelphia, Philadelphia, Pennsylvania, began his
comment by declaring that the development of a
substantive national environmental justice policy that
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incorporates public  health criteria is essential to
bringing about meaningful change.  The NEJAC's
handout,   Community-Based  Health  Model
Discussion, he pointed out, states that one should
not treat minority, low-income communities through
an "all things being equal approach," stating that it is
obvious that there is currently no equality in terms of
the baseline health status of communities of color
and low-income communities. Whether or not the
substandard health  of a community is a result of
toxic  exposures or  inequities in socioeconomic
opportunities  and   educational  attainment  is
irrelevant, he pointed out. He explained that health
considerations are linked inextricably to the search
for solutions to problems related to environmental
justice, he explained. Mr. Dyson stated that EPA's
Title  VI  Interim   Guidance  for   Investigating
Administrative  Complaints  Which   Challenge
Permitting  Decisions  is  fundamentally  flawed
because it excludes  public health considerations.

The  Law Center of  Philadelphia has proposed an
alternative policy called the Environmental  Justice
Protocol  and  tested that policy for  the  city of
Philadelphia, continued Mr. Dyson. The protocol, he
explained, requires the parametric mapping of four
health criteria in Philadelphia:  noncancer mortality,
cancer  mortality, infant  mortality,  and  low  birth
weight. In addition, he continued, spacial analysis of
demographic data is incorporated into the analysis.
The  rationale  of the protocol is that,  if  certain
population  groups  already  are  experiencing
substandard health, those groups  should  not be
subjected to further  environmental depredation, he
stated.  He pointed out  that, in Philadelphia, 94
percent of those living in the areas in which health
statistics are poorest are minorities.  Mr. Dyson
stated that, if his organization can develop a health-
based method for securing environmental justice in
the city of Philadelphia, the EPA,  with  all of the
available  resources of the  Federal  government,
should be able to devise a policy to ensure the
protection of the entire nation. Mr. Dyson urged the
NEJAC to  take action  now,   stating  that  the
integration  of  health  considerations  into   an
environmental justice policy begins with the NEJAC.

3.6 Daisy   Carter,   Project Awake,  Coatopa,
    Alabama

Ms.   Daisy Carter,  Project  Awake,  Coatopa,
Alabama, told the members of the Executive Council
that her community  needs help in acquiring funding
to improve its water system.  She  stated that the
county in which her community is located is the site
of a large hazardous waste dump that has been
receiving  waste for more  than 30  years  from
50 states  and  17  countries.   Members of the
community are concerned that waste is leaking from
trenches  into  the  aquifer  that  provides  the
community's water, she explained, and the town is
unable to purchase the equipment necessary to
bring the water system up to date.  Ms. Carter noted
that she recently had called the appropriate state
department  about the  water  system,  and  that
department  had  informed  her that the  system
currently was being cited for a violation.  Ms. Carter
pointed out that the citizens of the community suffer
from a variety of health problems, including rashes,
cancers, and kidney problems.

Ms. Carter stated further that water from the aquifer
is salty, which can lead to hypertension and  high
blood pressure in individuals who consume  that
water.  Every citizen has a right to safe drinking
water, she stated.  She asked that the  NEJAC
provide   her community  with  some  financial
assistance or advise the community about applying
for a  grant.  Mr. Robert Varney,  New  Hampshire
Department  of Environmental Services, Concord,
New Hampshire and member of the Enforcement
Subcommittee  of  the  NEJAC,  stated  that  his
department had worked with several communities to
improve their public water systems. One source of
funding, he  explained,  is the U.S. Department of
Agriculture's  rural development  program, which
provides  grants,  and  low-interest  loans  to
communities. He added that low-interest loans also
are available under the state revolving fund (SRF)
low-interest  loan  program, which, he  noted,  is
available in Alabama. Ms. Ramos asked Ms. Carter
whether any agencies had tested the water in her
community.  Ms. Carter replied that members of the
community had been buying test tubes and sending
water for analysis themselves, but that no agencies
had  performed testing  for them.   Ms.  Ramos
declared that the  issue was an urgent  matter that
EPA should  address immediately.

3.7 Gary  Grant, Concerned  Citizens of Tillery,
    Tillery, North Carolina

Addressing the issue of cesspools in rural America,
Mr. Gary Grant, Concerned Citizens of Tillery, Tillery,
North Carolina, stated that vertically  integrated
industries raising  confined animals are entering
predominantly African-American  communities  in
rural America. Many of those communities rely on
well   water,   he  said,  and  no  guidelines  are
established to govern the digging of cesspools for
the CAFOs. Waste from cesspools  seeps into
groundwater and eventually migrates to well water,
explained Mr.  Grant.   North Carolina  has no
requirements governing the design of cesspools, he
continued, and  no permit is required for their use.
The odor is offensive, and respiratory problems are
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                         Public Comment Periods
elevated in areas in which people live near CAFOs,
he stated. The industry recently has learned how to
mask the odor, he said, but members of the affected
communities still must breathe the harmful airborne
agents.

Mr. Grant stated that EPA is working to develop
standard guidelines for cesspools.  EPA, he noted,
does not know what communities are being exposed
to because "they don't live where we do," said Mr.
Grant.  He added that environmental justice issues
are not confined to  urban America  alone;  rural
America has such issues, as well.  Mr. Cole stated
that Mr. Grant was  to  attend the  meeting of the
Enforcement Subcommittee on the following day; the
subcommittee was scheduled  to discuss the issue
further, noted Mr. Cole.

3.8 Omar Freilla, New York City  Environmental
    Justice Alliance, New York, New York

Mr. Omar Freilla, New York City Environmental
Justice Alliance, New York, New York, stated that his
organization focuses on low-income communities of
colorthat suffer from asthma epidemics. He pointed
out that low-income communities of color have some
of the  highest asthma rates in  the country.  Mr.
Freilla  noted that he would discuss two factors that
are  blocking  the   adequate  assessment  of
environmental injustices in New York City.

First, Mr. Freilla stated, environmental impact studies
performed in New Ydrk City do not take into account
actual  effects on a neighborhood.  He pointed out
that such studies consider environmental effects
citywide, but not the local effects.  Many projects are
approved, he explained, because the focus of the
study is much broader than on the  actual  area that
would be affected. Mr. Freilla asked that the NEJAC
encourage EPA in turn to urge  New York City to
address the issue adequately.  An example of such
problems, he continued, is the battle over interim
garbage export contracts in New York City. Tens of
thousands of trucks are proposed to export garbage
from   the  city  through   primarily  low-income
communities  of color, he explained.  The impact
study for the proposal examines the impact on the
city as a  whole, instead of the individual  routes
traveled, he pointed out.

The  second  issue,  he  continued, is  that  the
metropolitan planning organization for the greater
New York City area has failed to monitor compliance
with  Title VI.   The  agency has  established no
procedures for identifying disparate effects on low-
income communities of color, he said.  Each of the
agencies that make up the organization is required
to file its own  Title VI report, he stated, but there is
no coordination among the agencies on the issue.
The reports, he charged, are "completely vague" and
are designed to create an impression that there is
equity how the transit systems  operate.  Other
problems in New York City that should be addressed
include waste  transfer stations  and access  to
parklands, he explained, but those issues receive
little attention from EPA Region 2.  Mr. Freilla urged
that the NEJAC advise Region 2 to improve its
regulatory performance.

Ms.   Miller-Travis  suggested that  Mr.  Freilla
reexamine the New York City Environmental Justice
Alliance's research framework, stating that it is not
only low-income communities of color that are
affected by the placement of facilities, but all
communities of color.

3.9 Mildred McClain, Citizens for Environmental
    Justice, Savannah, Georgia

Representing  the   People of   Color   and
Disenfranchised Communities Environmental Health
Network,  Dr.  Mildred  McClain,   Citizens  for
Environmental   Justice,  Savannah,  Georgia,
reminded the members of the Executive Council that
she had spoken at the previous meeting of the
NEJAC in December 1999 about Federal facilities.
Environmental justice, she stated, calls for universal
protection  from  nuclear  testing  and extraction,
production, and disposal of toxic wastes and poisons
that threaten the fundamental right to clean air, land,
water, and food. Environmental justice demands an
end to the production of toxins, hazardous waste,
and radioactive materials, she continued, and all
producers must be held strictly  accountable for
remediation.  Workers have  the right  to a safe and
healthy work  environment without being forced to
choose between  an  unsafe   livelihood   and
unemployment, she added. Dr. McClain stated that
victims of environmental injustice have the right to
receive full  compensation  and  reparations for
damages, as well as quality health care.

Dr.  McClain  explained that  there  are African-
Americans at the Savannah River site, one of 165
Federal facilities that must be cleaned up, who have
been exposed excessively to contamination and are
being denied  the right to health care. She stated
further that DOE had held a workers hearing at the
Los Alamos National Laboratory that was attended
by more than 400 people who had been exposed to
contamination.  Workers claimed that records had
been falsified to cover up exposures at the facility.
DoD and DOE should help to formulate policy, she
declared.
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                                                      National Environmental Justice Advisory Council
Continuing, Dr. McClain stated that, to ensure that
risk assessments are meaningful, the community
should be involved from the initial stages and those
performing  the  assessment  should  have  an
understanding of the health  background  of the
community.  Dr. McClain called upon the NEJAC to
establish a subcommittee to address environmental
justice issues at Federal facilities.

Mr. Lee stated  that  the  Health  and Research
Subcommittee would serve as the point of contact
for the NEJAC for issues related to Federal facilities
and that OEJ will work with EPA's Federal Facilities
Enforcement Office (FFEO) to follow-up on issues at
facilities identified during public comment periods, he
said.    Federal facility  issues  fall within  the
responsibilities of several  branches of EPA, he
explained; it is necessary to coordinate plans with
those  offices   before  a  working  group  or
subcommittee is established.

Dr. McClain asked the Executive  Council  how
community-based  organizations  can  help  to
influence matters related to the issues  that the
NEJAC addresses at its sessions.  Issues related to
Federal facilities are discussed continually, she said,
and it is made clear that the Health and Research
Subcommittee is the point of contact, but people do
not know how to influence what that subcommittee
does and discusses during its meeting session. Ms.
Shepard responded that such organizations as Dr.
McCIain's are influencing the process and that the
Executive Council considers all the information it
hears. Mr. Barry Hill, Director, EPA OEJ, noted that
the commenters have been heard by the NEJAC and
by EPA, and that the NEJAC will address the Federal
facility issue.

Mr. Turrentine stated that the NEJAC takes under
advisement all information it hears.  He stated that it
would be unfair to ask Mr. Lee or Mr. Hill to make a
commitment about the  formation of  a  Federal
facilities  subcommittee  before  they  have the
opportunity to speak  with representatives of the
various program offices  within EPA that have an
interest in Federal facilities.

3.10 Beverly Wright, Wampanoag Tribe of Gay
     Head, Aquinnah, Massachusetts

Ms. Beverly Wright, Wampanoag Tribe of Gay Head,
Aquinnah, Massachusetts,  informed the Executive
Council that her tribe lives on Martha's Vineyard
Island and has  been Federally recognized since
1987.  She explained that, with Federal recognition,
the tribe had received money for education and
health services and protection of natural resources.
Between 1940 and 1994, she continued, the U.S.
Department of the Navy (Navy) conducted bombing
practices on the Island of Normans Land located five
miles off the coast of Martha's Vineyard.  When the
Navy decided it no longer wanted the island, she
said, the tribe applied for access to it, but that
access  was denied because the U.S.  Fish and
Wildlife  Service (FWS), DOI, wanted to use the
island as a refuge.  Ms.  Wright  pointed out that,
under  the  Indian policy of the  FWS,  Native
Americans  are not to be denied  access to their
traditional homelands.

Last year,  continued Ms.  Wright,  the state of
Massachusetts  performed  a cancer study that
indicated that residents of the reservation had a 93
percent higher cancer rate than other residents of
Massachusetts. She stated that she would like to
reassess the island, noting that she cannot prove
that contamination on the island causes cancer, but
stating she would  like to determine whether that is
the case. She asked the  NEJAC for assistance in
nominating the Island of Nomans Land for a grant
under CERCLA. She added that the reservation is
building a  fish hatchery to spawn a  variety of
species, noting that production of seafood  is the
basis of the tribe's economy.  Contamination of the
water, she explained, would create "a vicious cycle
of cancer."  Ms. Wright urged that the NEJAC help
the tribe obtain funding, which is available because
it is a Federally recognized tribe, to support a cancer
study.

Ms.  Miller-Travis noted that Ms.  Wright would be
attending the meeting  of the Waste and Facility
Siting Subcommittee to discuss how the NEJAC can
provide assistance  in  resolving the issues Ms.
Wright had raised. Ms. Miller-Travis stated that Mr.
Timothy Fields, Jr., Assistant Administrator of EPA
OSWER, who has responsibility for oversight of the
implementation of CERCLA, would be present at that
meeting, as well. Mr. Goldtooth mentioned that the
Indigenous  Peoples  Subcommittee  would  be
interested in working with the Waste and  Facility
Siting Subcommittee to ensure  that the issue is
pursued.

3.11 Grace   Hewell,   Health   Policy  Group,
     Chattanooga, Tennessee

Dr.  Grace   Hewell,   Health    Policy  Group,
Chattanooga, Tennessee, expressed her interest in
learning how she can help the NEJAC  solve civil
rights issues.  She stated that she has a variety of
degrees in public health and social work and noted
that  much of the discussion during the meeting of
the NEJAC had focused on community health. Dr.
Hewell said that she had performed public  health
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 National Environmental Justice Advisory Council
                          Public Comment Periods
 work in many areas of the country, including Queens
 and Harlem, New York.

 Dr. Hewell expressed her disappointment that the
 NEJAC  has  not yet accepted  her long-standing
 invitation to   hold  a  meeting  in  Chattanooga,
 Tennessee.  She also  requested that the NEJAC
 provide   environmental  health  education  in
 Chattanooga,  since few people in that area are
 knowledgeable about that subject. Dr. Hewell then
 stated  that  people must  be  educated  about
 environmental justice. With today's technology, she
 added, people must be given access to information.
 Mr.  Cole stated that,  in 1996, Dr. Hewell had
 requested  that  the  NEJAC  hold  a meeting  in
 Chattanooga.  In 1997,  he continued, the NEJAC
 passed a resolution to meet in Chattanooga, but a
 transition in leadership  at OEJ  had brought the
 NEJAC to Atlanta,  Georgia,  instead.  Mr.  Cole
 apologized to Dr. Hewell for the NEJAC's failure to
 schedule a meeting in Chattanooga.

 3.12 Sandra Jaribu Hill, Center for Constitutional
     Rights, Greenville, Mississippi

 Speaking on  behalf of  the Mississippi Workers
 Center,  Ms.  Sandra   Jaribu  Hill,  Center  for
 Constitutional  Rights,   Greenville,  Mississippi,
 informed the  Executive Council that she would
 discuss an issue that, she declared, has not yet been
 addressed  adequately  by government  agencies.
 That issue, she  said, is "dying to make a living."
 Every year, continued Ms. Hill, numerous  workers in
 the United States are killed as a result of  hazards in
 the workplace. She explained that, while some of
 those workers were victims of fatal accidents,  many
 were poisoned by toxic  substances.  Segregated
 workplaces are found throughout the country, she
 pointed out, especially in the southern region, where
 workers of color often are assigned the dirtiest, most
 dangerous jobs.

 Ms. Hill recounted a story about a man who worked
 at a Tyson Foods, Inc.  poultry plant.  When the
 worker, who  used chlorine to  clean processing
 machines,  became  sick  and   approached his
 supervisor, said Ms. Hill, the worker was told to quit
 if he did not like the work. The worker contacted the
 Occupational   Safety and Health  Administration
 (OSHA), which performed an on-site inspection. The
 worker later was fired, continued Ms.  Hill.   She
added that, because of health problems that arose
while he was working at the Tyson plant, the man
 involved currently is unable to work a steady job.

 Ms.  Hill  then described  another  incident  that
occurred in 1992, when 25 workers were killed after
a  boiler  exploded at a poultry  plant located  in
 Hamlet, North Carolina.  The fire doors had been
 locked to prevent workers from stealing chickens,
 she pointed out. When officials of the Food and
 Drug  Administration  (FDA),  U.S.  Department of
 Health and Human Services (HHS), inspected the
 plant before the accident occurred, workers had told
 them  about  the unsafe  work conditions.   The
 officials, however, were concerned only about the
 cleanliness of the plant, she said.

 Ms. Hill recommended that the NEJAC facilitate the
 establishment of an EPA and OSHA task force to
 address the  chemical poisoning of workers  and
 environmental racism.   Ms. Ramos  stated  that
 community leaders should be encouraged to file
 complaints with OSHA on  behalf of  mistreated
 employees. Ms. Hill responded that her community
 had filed complaints with OSHA, adding that workers
 do not have  the right to sue an employer for
 compensation for injuries.  In response to  Ms.
 Augustine's question, whether Ms. Hill's organization
 works with welfare workers trained  to work in
 hazardous conditions, Ms. Hill responded that the
 welfare workers are forced to work in toxic conditions
 without any hazardous waste training.

 Ms. Augustine asked Mr. Turrentine whether, as an
 environmental issue,  OSHA's  failure  to  protect
 workers would fall under the jurisdiction of the U.S.
 Department of Labor (DOL). Ms. Hill responded that
 it would seem that the proper agencies with which to
 collaborate on the issue are EPA and OSHA, since
 they both acknowledge hazards that affect workers.
 Mr.  Tseming  Yang,  Vermont  Law  School  and
 member of the International Subcommittee of the
 NEJAC, noted that such issues are  related to
 matters that  were  to be discussed  during  the
 meeting of the  International Subcommittee; he
 therefore invited Ms. Hill to attend that meeting.  Mr.
 Yang asked Ms. Hill whether the problem is lack of
 enforcement,  lack of  adequate laws, or lack of
 employee education. Ms. Hill responded that OSHA
 does not cover farm workers or domestic workers
 who work with dangerous cleaning materials.  The
 number of OSHA inspectors is insufficient to assess
 sites, she stated, and enforcement is an issue, as
 well.  Mr. Turrentine suggested that Ms. Hill  join
 forces with a local or national labor union that  has
 resources and capital to invest.  Ms. Hill stated that
 her organization had been working with unions, but
that government accountability is needed to protect
 workers.
Atlanta, Georgia, May 23 and 24, 2000
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     National Environmental Justice Advisory Council
3.13 James   Hill,   Scarboro   Community
     Environmental Justice Network, Oak Ridge,
     Tennessee

Stating the he is president of the Oak Ridge Branch
of the National Association for the Advancement of
Colored People (NAACP), Mr. James Hill, Scarboro
Community Environmental Justice  Network,  Oak
Ridge, Tennessee, noted that the  predominantly
African-American community of Scarboro is located
500 yards from the Y-12 nuclear weapons plant.
The  state of Tennessee  was  called  upon  to
investigate why so many children in the community
were suffering from health problems, he stated, but
that the state of Tennessee refused to take action.
For the past two years, the Scarboro Community
Environmental Justice Network has been meeting
with  local, state, and Federal officials to establish
leadership in the community and to conduct health
examinations,  he  said.   The  results of those
examinations  indicate that asthma rates are higher
than the national  average,  he pointed out.  The
community currently is discussing  with DOE the
performance of additional soil sampling, since an
initial sampling showed high levels of contamination
in the community, he said.  In addition,  Mr. Hill
continued, EPA had presented a sample plan to the
community and  provided  the  community  an
opportunity to comment on the plan. Mr. Hill stated
that  he wished to inform the NEJAC that many
activities were underway in Scarboro, but that "there
is no closure yet."

3.14 Mildred  Colen,  Private  Citizen,  Warren,
     Arkansas

Ms.  Mildred  Colen,  a  private  citizen, Warren,
Arkansas,  stated  that  there are five  lumber
companies located in Warren,  one of which is
located adjacent to the residences of many families
in the community.  She explained that many people
in the community had died of cancer, cardiovascular
disease, or diabetes because they used water from
contaminated wells. She pointed out that city water
was not available to the community until the 1970s.
For more than three decades, the lumber industry
discharged and dumped  its wastes on residents'
property,  she  said.   Recent sampling by  EPA
revealed the presence of 15 heavy metals in soil,
including arsenic at a level of 17.2 parts per million,
she  said,  pointing  out  that  the   maximum
contamination limit is 0.05 parts per million. Other
testing revealed the presence of nine volatile organic
chemicals that are identical to chemicals used bythe
hardwood industry in the  manufacturing of  its
products, she stated.  The chemicals are known to
cause  cancer,  kidney and  liver problems,  and
circulatory disorders, she said, but EPA tells the
community there is no need for concern.

The Arkansas Department of Environmental Quality
(ADEQ),   EPA,   ATSDR,  and   the   Arkansas
Department of Health are all aware that there is an
illegal  landfill  created  by  the industry  in  the
community, Ms. Colen said. Runoff from the landfill
flows from a stream onto the properties of residents
of the community, she stated. She stated that an
investigator had examined the landfill after she had
offered comments  at  an environmental justice
enforcement roundtable meeting of the NEJAC in
San Antonio, Texas in 1996. After the examination
of the landfill in her neighborhood, she continued,
and of another landfill  in a  white neighborhood,
cleanup of the landfill in the white neighborhood was
ordered within weeks.

Ms. Colen added that she  since  had  filed  two
administrative complaints with EPA's OCR under
Title VI. She noted that those charges were against
the city of Warren for participating in the pollution of
the neighborhood  and ADEQ for issuing a permit
under the  National Pollutant Discharge Elimination
System (NPDES)  that authorized  industry  to
discharge  effluent onto private property without
monitoring. Not only were the complaints denied,
she said, but OCR  also violated her privacy rights by
turning the complaints over to the agencies against
which she had filed them. Since then, she stated,
she had experienced several forms of harassment.
Ms. Colen asked  the members of the Executive
Council for any advice they could provide  about her
predicament.

Dr. Michel Gelobter, Rutgers University and chair of
the Air and Water Subcommittee  of the NEJAC,
asked Ms. Colen what role EPA Region 6 had played
during  the proceedings she had described.   Ms.
Colen responded that representatives of Region 6
had  visited  her  community several  times  to
investigate conditions,  but  that  no  action  had
resulted from those visits. Dr. Gelobter suggested
that Ms.  Colen speak  with him after the  public
comment  session to determine how the Air  and
Water  Subcommittee of  the NEJAC can  be of
assistance to her community.

3.15 Caitlin Waddick,  City  Planning Program,
    Georgia Institute of Technology, Atlanta,
    Georgia

Speaking  on behalf of  her professor, Ms. Caitlin
Waddick, City Planning Program, Georgia Institute of
Technology,  Atlanta, Georgia,  introduced to the
members  of the Executive Council that program's
research on multiple chemical sensitivity. She noted
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 that the Enforcement Subcommittee of the NEJAC
 had prepared a draft resolution on multiple chemical
 sensitivity that requested that EPA review a host of
 issues. Ms. Waddick stated that representatives of
 the university's city planning program had reviewed
 the  resolution and suggested that  Item 7 of the
 proposed resolution be amended to read as follows,
 "The EPA  should  devise and adopt a reasonable
 accommodation policy for affected persons who
 work and/or attend meetings held at or sponsored by
 the EPA. This should include the identification and
 provision of  EPA  work  places  and EPA meeting
 places which are non-toxic and suitable, a fragrance-
 free policy for EPA offices  in internal and external
 meetings,  and  other  actions  to accommodate
 multiple chemical sensitivity, disabled workers, and
 meeting participants." (Appendix A of this meeting
 summary provides the full text of the resolution that
 was approved by the Executive Council on May 26,
 2000.) For example, she stated, several people had
 been unable to attend the  public comment period
 because the room was not fragrance-free.

 Ms.  Waddick  stated that studies  indicate that
 multiple chemical  sensitivity in  the  United States
 could affect from 16 to 32 percent of the population.
 Such persons are so sensitive to chemicals that the
 condition is very disruptive  in their lives, she said.
 Ms. Waddick stressed the importance of passing the
 resolution on multiple chemical  sensitivity.  Action
 should be  taken now, she said, to  prevent more
 individuals from becoming sensitized to chemicals.
 She explained that people can become sensitized by
 exposure to  pesticides,  indoor  air pollutants, and
 new carpeting, for example.  Mr. Cole stated that Ms.
 Waddick should give any recommended changes in
 the resolution to him, so that the members of the
 Enforcement Subcommittee  can discuss  those
 changes during their meeting.

 3.16 Pat  Hartman,  Concerned   Citizens   of
     Mossville, Westlake, Louisiana

 Ms. Pat Hartman, Concerned Citizens of Mossville,
 Westlake, Louisiana, stated that, a few years earlier,
 the city of Mossville had experienced a toxic spill that
 caused  several  illnesses  and  deaths  among
 members of the community.  The people of Mossville
 filed  a  class action lawsuit, she said, but she
 characterized the settlement reached as unfair.  In
 addition, there  are  refineries throughout  the
 community that contaminate the.land, air, and water,
 she said.   State and Federal agencies  have  not
 provided any assistance, she stated. Many people
 in the community continue to be sick, she explained,
from cancer and other illnesses resulting from the
 spill. Ms. Hartman asked that the NEJAC help the
 people of Mossville in their effort to have a health
 clinic established in their community. Doctors do not
 understand that  the  illnesses are  caused  by
 chemical  contamination,  and  they  prescribe
 medication that is unaffordable, she explained. Ms.
 Hartman noted that the community has united with
 other minority communities in Louisiana and around
 the country to address the environmental injustices
 that occur in their respective communities.   Ms.
 Shepard stated that residents of Mossville were to
 meet with members of the Health and Research and
 Waste and Facility Siting subcommittees to discuss
 the issues further on the following day.

 3.17 Pat  Costner,  GreenPeace  International,
     Eureka Springs, Arkansas

 Dr. Pat Costner, GreenPeace International, Eureka
 Springs, Arkansas, introduced  Mr.  Damu Smith,
 GreenPeace International, Washington, D.C., and
 stated that Mr. Smith would present the opening
 comments  of her presentation. Mr. Smith reminded
 the Executive Council that, at the December  1999
 meeting  of the NEJAC,  he had discussed an
 investigation of dioxin exposure that ATSDR had
 conducted in Mossville.  ATSDR had completed that
 investigation, he said, adding that Dr. Costner would
 provide a critique of the scientific evidence related to
 the dioxin crisis.

 Dr. Costner stated that the 28  people who  were
 tested in Mossville during the investigation had levels
 of dioxin and PCBs in their blood at three times the
 background level for the  population of the United
 States.  Those levels fall within the range at which
 adverse health effects have been identified in both
 laboratory animals and humans, she  said.   That
 finding suggests that there are unique local sources
 of dioxin and PCBs in Mossville, she added. ATSDR
 also analyzed a sample of breast milk that contained
 levels of dioxin and PCB that were 30 percent higher
 than average, she pointed out.  In addition, she said,
 dioxin levels in soil in people's yards in Mossville are
 17 times higher than levels found in rural areas of
 the United States.  On the basis of those findings,
 she continued, the citizens of Mossville recommend
 that the NEJAC make  it a priority to identify and
 eliminate the source of contamination of dioxin and
 PCBs in Mossville. Not only must the  facilities be
 dealt with, she declared, but the dumps and landfills
 also must be remediated.

3.18 Charlotte  Keys,  Jesus  People  Against
    Pollution, Columbia, Mississippi

 Stating that she has personal experience with  local
 public  health issues  arising  from  exposure to
contamination, Ms. Charlotte Keys, Jesus People
Against Pollution, Columbia, Mississippi, stated that
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the only true remedyfor many such issues is to bring
all agency resources together.  She pointed out that
sites  being  remediated  under  the  Resource
Conservation and Recovery  Act (RCRA)  and
Superfund, Federal facilities,  pesticide sites, and
similar sites often are the source of the same public
concerns.   Most of  the sicknesses in minority
communities result from environmental pollution, not
poverty, she noted. Ms. Keys recommended that the
NEJAC work to enact or enforce existing policies to
make  it   mandatory   for  agencies  to  foster
partnerships with communities to develop corrective
measures through a joint effort involving all agency
resources.   DoD, DOE,  HUD,  HHS,  the U.S.
Department of  Transportation (DOT), EPA,  and
other agencies should resolve public health issues
through the use of existing funds and develop new
funds so that communities can receive health care
services, she said.   In addition,  she continued,
medical professionals should undergo training in the
effects of toxic contaminants on health so that they
can make accurate diagnoses of illnesses related to
exposure to contamination.

3.19 Ian  Zabarte, Western Shoshone  National
     Council, Indian Springs, Nevada

Mr.  Ian  Zabarte, Western  Shoshone  National
Council,  Indian  Springs,  Nevada,  stated  that
environmental racism in policy practiced by agencies
of the government, such as the U.S. Department of
Justice  (DOJ)  and  EPA,  is  killing  the  Western
Shoshone people. The Western Shoshone have
filed documents in  U.S. courts  that present an
analysis and critique of Federal plenary power over
Indians, he said.  The  doctrine  of  U.S. Federal
trusteeship that is asserted over American Indians
originated  in an era of racial discrimination, he
explained, and is unacceptable in modern society.
The Federal government asserts that it has plenary
power and trusteeship over the Western Shoshone,
he said.  From the government's perspective, he
said, such a position means that the government can
exert unlimited  administrative control  over the
Western Shoshone people and their property.  The
policy destroys  the Western Shoshone language,
culture, and tradition, he pointed out. The Federal
government maintains that  Western Shoshone
territory  was   taken,   and   that  money  has
compensated them for such taking, but at no time
have the Western Shoshone relinquished title to their
lands,  he  added.  Further,  they have refused
payment for claims  on  their territory,  said Mr.
Zabarte.   The foundation cases  of U.S. Federal
Indian law are grounded on principles of supremacy
that date back to the 15th century, he stated. Mr.
Zabarte pointed out that the cases that the  United
States uses to justify  its policies  are based on
distinctions between Christians and heathens that
penalized  Indians for not believing in Christianity.
Today,  that  unjust  posture  of Christian  right
continues  to influence the government's dealings
with Native Americans, he stated, and is used to
justify  the ongoing  theft of  land  and  natural
resources.

Mr. Zabarte  noted that  the  United States  has
detonated 924 nuclear weapons within Shoshone
territory and buried 828 such weapons underground.
Radiation  is entering  the groundwater,  he  said.
Native Americans also have been targeted for a
proposed  high-level nuclear waste  repository at
Yucca Mountain, Nevada, he added.  Mr. Zabarte
stated that Native American communities  have
compiled research to deal with such problems and
representatives of those  communities  were to
present that  research  at the meeting  of  the
International Subcommittee.

3.20 Michelle Xenos, Shundahai Network,  Las
    Vegas, Nevada

Ms. Xenos explained  that the definition of health
discussed during the public comment periods had
excluded mental and spiritual health. Mental and
spiritual health are equally important, she pointed
out, and manifest physical health. People are linked
with  other people  and  their  environment,  she
continued; what happens to one person affects other
people, as well. Ms. Xenos noted that the people of
her community  believe there are  flaws in the
methodologies used in the conduct of health studies
and that people have difficulty accepting the way the
results of such studies are interpreted. She stated
that a profit-driven society will  not be healthy,
because profit is generated through exploitation of
the earth.  Not only is the environment exploited, she
continued, but Native Americans   and African-
Americans also are mistreated. Ms. Xenos stated in
conclusion that EPA and the NEJAC should protect
the resources that create profit.

3.21 David Baker, Community Against Pollution,
    Anniston, Alabama

Thanking the NEJAC for visiting Anniston on its fact-
finding tour the day before,  Mr.  David Baker,
Community Against Pollution, Anniston, Alabama,
stated that three and one-half million tons of PCBs
currently are buried in the neighborhood of Anniston,
Alabama.  A number of industries have assaulted
that city, he said. The community has been working
with EPA,  he continued, and the results to date had
been  satisfactory.  Mr. Baker stated that, on the
preceding day, a judge in one of the litigation cases
had   informed   Monsanto Company  that  the
corporation must alleviate the contamination in
Anniston,  he stated. Yet, three and one-half million
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                          Public Comment Periods
 tons of PCBs remain buried in the community, he
 reiterated.  The community requested that EPA
 relocate people or remove the mountain of PCBs, he
 stated. Mr. Baker asked for the assistance of the
 NEJAC in addressing  the  Issue,  adding that the
 community also needs  assistance  in arranging the
 establishment of a  health clinic.

 3.22 Natalie  Leverette,   PEACE,  Richton,
     Mississippi

 Ms. Natalie Leverette, PEACE, Richton, Mississippi,
 stated that all the households in her predominantly
 black community experience some type of health
 problem. Members of the community had requested
 information   from   DOE   about   the  chemical
 companies in the community, believing  that those
 facilities could be causing the health problems, she
 explained. The community discovered that wells in
 their neighborhoods were contaminated with high
 levels of chloride, sodium, strontium, and boron, she
 said.  Members of the community reviewed some
 water reports of the U.S. Geological  Survey (USGS),
 DOI, she continued, and discovered that their wells
 consistently showed  high levels of contamination
 year after year, while wells in nearby neighborhoods
 did not show any  contamination.   The chemical
 companies and DOE  both deny any involvement in
 the contamination of their community, she stated.

 Ms. Leverette mentioned that the community also
 had discovered that their water supply comes from
 a  separate   system  from  that supplying  other
 communities nearby.  In 1993, she continued, the
 community learned that there were traces of arsenic
 in the water, but the state environmental department
 of Mississippi denied that finding,  she said!  The
 contaminated well  recently had been sealed, she
 stated.  Ms. Leverette requested that the  NEJAC
 arrange for  EPA to help the community test the
 sealed well to identify contaminants  its citizens have
 been  exposed to.   In addition,  she  said, the
 community needs health facilities  to address the
 medical problems of its people.

 3.23 Nan    Freeland,    Natural   Resources
    Leadership   Institute,   Raleigh,   North
    Carolina

 Ms. Nan Freelandj  Natural Resources Leadership
 Institute, Raleigh, North Carolina, expressed concern
 about fish consumption advisories and how they are
 related to environmental justice. In  North Carolina,
 she stated, fish consumption advisories  rarely are
 posted in areas in which poor people and African-
Americans will see them. Advisories typically are
 posted in areas to which people who have fishing
 boats go, she explained, but rarely in areas in which
 people fish without boats. Children often play in the
 water, as well, she stated, adding that fish advisories
 sometimes are not posted until after dead fish have
 been found.  Streams and tributaries affected by
 advisories often run through communities,  she
 pointed out,  but the advisories are not placed in
 communities in which people work and live. North
 Carolina has had a significant problem with pollution
 of streams and rivers, she stated, and it is important
 that fish consumption advisories be posted. Fish are
 dying and disappearing in places in which they once
 were plentiful, she said. Ms. Freeland stated that,
 when fish consumption advisories are issued, they
 should be highly publicized, not merely posted in
 recreational areas. Citizens also should be educated
 about what fish advisories mean, she said.  Dr.
 Gelobter pointed out that Ms. Freeland was to attend
 the meeting of the Air and Water Subcommittee on
 the following day.  He added that  such issues are
 relevant in Indian country, as well.

 3.24 Connie  Tucker,   Southern  Organizing
     Committee for  Economic  and   Social
     Justice, Atlanta, Georgia

 Ms. Connie Tucker, Southern Organizing Committee
 for Economic and Social Justice, Atlanta, Georgia,
 explained  that  on  May  5  and   6,  2000,
 representatives of 15 communities in EPA Region 4
 attended a citizens training forum. The goals of the
 forum were to educate citizens about the structu re of
 the NEJAC, discuss public health issues that affect
 low-income and minority communities, and discuss
 recommendations related to  policy for addressing
 public health  issues, she said.  The forum  focused
 on a community-based public health model to elicit
 the  views   of  representatives  of affected
 communities, she stated.  A planning committee
 subsequently was formed to identify major issues
 and policy recommendations gathered during  the
 forum, she said. The major  issues identified, she
 pointed out, were children's health, air and water
 pollution, Superfund and brownfields sites,  Federal
facilities, and commercial agriculture. The planning
 committee is  preparing a document that sets forth
 policy  recommendations   on   assessment,
 intervention, and prevention. The document will be
 presented to the NEJAC when it is completed, she
stated.

 Ms. Tucker suggested to the Executive Council that
each region that hosts a meeting of the  NEJAC
should provide funding for environmental justice
organizations to conduct similar forums so that those
organizations can present a list of recommendations
to the  NEJAC before the  meeting begins. She
added that EPA should provide adequate funding to
foster  community  participation   and  allow
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                                                       National Environmental Justice Advisory Council
communities to obtain technical assistance.  Ms.
Tucker also stated that the NEJAC should develop
a   process   for  reviewing   and   adopting
recommendations provided during public comment
periods. Concluding her statement, she requested
that the NEJAC begin to concentrate on the failure of
EPA to provide  oversight of enforcement and
compliance responsibilities delegated to states.

3.25 Edgar  Moss,  Mclntosh   Environmental
     Justice Taskforce, Inc., Atlanta, Georgia

Noting that he  was a retired worker for Ciba-Geigy
Chemical Corporation, Mr. Edgar Moss,  Mclntosh
Environmental Justice Taskforce, Inc.,  Atlanta,
Georgia, 'stated  that  the  African-American
community of Mclntosh is located on the f enceline of
facilities of the Ciba-Geigy and Olin Corporation
Chemical Divisions. Ciba-Geigy produces pesticides
that cause cancer and developmental problems in
children, he explained.   He pointed out that the
companies  contaminated   the   basin   of  the
Tombigbee river,  creating a Superfund site.  Mr.
Moss indicated that the rates of cancer and other
illnesses are high among workers in the community,
and children surfer from  learning  disabilities.  He
pointed out that no state or Federal agencies have
intervened or provided help to the community.  Mr.
Moss requested  that the NEJAC intervene and
investigate the need for relocation in Mclntosh.

3.26 Usha Little, Native American Environmental
     Protection   Coalition,   Valley   Center,
     California

Noting that some of, her colleagues had spoken
previously about the Gregory Canyon Landfill, Ms.
Usha  Little,  Native  American   Environmental
Protection  Coalition,  Valley Center, California,
informed the Executive Council that the  proposed
landfill would cover 1,770 acres of canyon land, part
of which is the watershed of the San Luis Rey River,
which replenishes groundwater sources in southern
California. The habitat includes a diverse population
of native plants and animals, she stated, and the
area is adjacent to the lands of six Indian tribes. The
landfill site would have a significant effect on the
livelihood of a minority population whose voices are
unheard, and whose resources are already limited,
she explained.

The site proposed forthe Gregory Canyon Landfill is
Medicine Mountain, which  is a Native American
place of worship, she stated.  Medicine Rock,  a
location on the mountain, has been a part of Indian
culture through many generations, she said, adding
that it is  a place where Native  Americans can
connect with their ancestors' religious and spiritual
knowledge.  There are 22 prehistoric and historic
sites on the mountain, Ms. Little added, and three
types of vegetation present there are listed in the
California Environmental Quality Act.  She pointed
out that traffic will increase significantly,  and  air
pollution will affect six  reservations.   Ms. Little
requested that the NEJAC contact and advise the
agencies responsible for issuing the landfill permit.
She closed her statement by reiterating that the
Gregory Canyon Landfill is an environmental and
cultural disaster, and is a desecration in the eyes of
Native American  people.  Ms.  Little  submitted a
videotape to the NEJAC that documented comments
from tribal  leaders and community members who
had been  unable to attend the meeting.  Mr.
Goldtooth noted that the Waste  and  Facility Siting
and the Indigenous Peoples subcommittees would
follow-up on the issue.

3.27 Hazel   Johnson, People  for   Community
     Recovery, Chicago, Illinois

Pointing out that  she is a former member of the
NEJAC, Ms. Hazel Johnson, People for Community
Recovery,   Chicago,  Illinois,   stated  that  her
community is affected by heavy toxic contamination.
Instead of asking the state or the health department
to perform a health study, Ms. Johnson said, she is
requesting  that the NEJAC help train residents to
conduct their own health study.  Residents then
would not be concerned about being  misled by the
government, Ms. Johnson explained.

After PCBs were  discovered in the community, its
citizens filed a class action lawsuit against the public
housing  authority because  the authority  had
neglected  to inform  residents of the toxic living
conditions before they moved in, she said.  Several
people in the community are dying of a variety of
illnesses, she explained, and  health care is too
expensive for residents of the community to afford.
Similar problems are  occurring around the country,
she stated, and it  is time that agencies take action.
Ms. Johnson also requested that the NEJAC help
provide training for medical personnel because they
are not skilled in diagnosing illnesses caused by
toxic contamination.

3.28 Mark  Mitchell,  Connecticut Coalition  for
     Environmental   Justice,    Hartford,
     Connecticut

Mr.  Mitchell stated   that  his  organization  had
performed  some community-based, community-
driven research  on  contamination  in  Hartford,
Connecticut. Hartford has the highest documented
rate of asthma in the United States, as demonstrated
by a study conducted by the Connecticut Children's
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 National Environmental Justice Advisory Council
                          Public Comment Periods
 Medical Center that indicated that 41 percent of the
 city's children have asthma, he said.  Mr. Mitchell
 pointed out that it is important to examine the high
 rates of asthma and the relationship of such rates to
 air toxins.   Trash  and sewage  sludge  in the
 community account for 2,000 tons of airtoxins a year
 that are not reported to the TRI, he stated.

 Mr. Mitchell informed the Executive  Council that his
 organization had documented a new kind of medical
 condition called chronic recurrent respiratory ailment
 that occurs in Hartford and other urban areas around
 the  country.    Such  respiratory  illnesses,  he
 explained, have symptoms similar to those of minor
 colds and last several months.  Studies show that
 the incidence of  the condition is  not distributed
 evenly through the city, he said, adding that it is
 concentrated in areas in which rates of air pollution
 are higher than those in areas in which the incidence
 is relatively low.

 Mr. Mitchell stated that asthma is a two-step process
 that involves an initiator and a promoter. Toxins are
 the initiators,  he explained, and other air pollutants,
 such  as allergens or dust mites, are promoters of
 asthma, once it has developed.  Mr. Mitchell  stated
 that hormonal mimics, such as RGBs and dioxins,
 should be studied because they may cause allergies
 and autoimmune conditions. Mr. Mitchell stated that
 community-based   organizations  should  be
 represented on NEJAC subcommittees. He  added
 that people should be tested to determine whether
 there is  a relationship between the  increase in
 chemical contaminants and the increases in disease
 rates.   Such testing should  focus on  health
 outcomes, rather than.engineering controls, he said,
 and diseases related to environmental conditions
 must be addressed.

 3.29 MaVynee  Oshun  Betsch,   A.L.   Lewis
     Historical Society, American Beach, Florida

 Ms. Betsch informed the Executive  Council that
 there  are three dump sites in Jacksonville, Florida
 that should be addressed by EPA. Representatives
 of Jacksonville had been  unable  to attend the
 meeting, she stated, but the information they wished
to bring to  the attention of  the  NEJAC had been
 provided to the Executive Council.

 Continuing, Ms. Betsch stated that she is a survivor
 of environmental injustice. She then recommended
that the NEJAC form a work group  of people who
 have survived such injustice. She stated that she
 once lived in London, England where the air pollution
 caused by coal-fired plants was so  heavy that she
 had found it necessary to wear surgical masks.  Ms.
 Betsch explained that she lives a very healthy
 lifestyle, even though she has colon cancer. She
 pointed out that illnesses caused by contamination
 can be treated with the right diet and medications.
 People should listen to folklore, she stated, because
 there is a chance that folk remedies can cure their
 ailments. She pointed out that understanding the
 culture of a community and talking to members of
 communities on their level will enhance the ability to
 treat their ailments.

 3.30 Damu   Imara   Smith,   GreenPeace,
     International, Washington, D.C.

 Mr.  Smith discussed environmental justice issues
 affecting the community of Mossville, Louisiana that
 were to  be addressed during the scheduled joint
 meeting  of   the  Waste  and   Facility  Siting
 Subcommittee  and  the  Health  and  Research
 Subcommittee. He noted that, while the meeting
 would focus  on  the  health and  dioxin crisis in
 Mossville, he also wanted the NEJAC to examine the
 policy implications of the government's dealings with
 the  community.    It is  important  to  examine
 Mossville's situation  to  determine  how  other
 communities in similar circumstances would be dealt
 with, he stated.    Mr.  Smith noted  that  his
 organization would demonstrate the seriousness of
 the  dioxin crisis  in Mossville  and  discuss  the
 responses of state and Federal agencies. State and
 Federal agencies  have taken a series of actions to
 frustrate  the   communities'   efforts  to  obtain
 environmental justice and to undermine the work of
 Mossville  Environmental  Action  Now,  the
 organization that has been mobilizing the community
 for three years, he stated. Mr. Smith requested that
 the Executive Council provide advice  on the most
 effective way to follow-up health studies. In addition,
 he continued, the communities would like to address
 the proper role of Federal agencies in cases in which
 state agencies fail to act.

 3.31 Elizabeth   Crowe,   Chemical  Weapons
     Working Group, Berea, Kentucky

 Noting that there were some points that had been
 missed in discussions of  community-based health
 assessments, Ms. Crowe pointed out that there had
 been no  mention of alternative  assessment  in
 discussions of shifting the burden of proof to industry
and the military. A justice-based, community-based
 health assessment is not feasible  until EPA and
other agencies stop presuming that industries are
 innocent until proven guilty, she stated. It should be
assumed that chemicals are harmful, she explained,
until industry can prove otherwise. A precautionary
principle states that, when science cannot fill data
gaps, even because of  a lack  of evidence, it is
imperative to err on the side of precaution and public
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      National Environmental Justice Advisory Council
health, she said. A protective model linked with a
precautionary principle is the alternative assessment
that, if implemented, dictates that, if an action is too
dangerous it will be  unacceptable from a public
health standpoint, she explained. Lacking such an
assessment, she continued,  EPA provides little
incentive for the development and use of cleaner
technologies.  Ms. Crowe then stated that, in the
case of the issue of community health assessment,
the burden  of proof  continues  to be placed on
communities like Mossville.  The people of such
communities are the people who are dying, she
declared, and they should not be expected to prove
that they are being harmed.

3.32 Jim  MacDonald,  Pittsburg  (California)
     Unified School District, Pittsburg, California

Mr. MacDonald stated that EPA has  made  many
decisions   that   make  environmental  justice
impossible.   Industry can bypass most of  the
programs instituted by EPA simply by saying  that it
is not creating  adverse effects, he explained. The
argument about  cause and effect can  go on for
years, he  said.   EPA must  recognize  that
environmental  justice is a civil  rights matter, he
stated, and that everyone has the right to breathe the
same quality air.  The placement of industry in
African-American neighborhoods is brought about by
the same mechanism that caused the segregation of
public education, he said.  Zoning practices arose
from racism and discrimination, he stated.

Mr. MacDonald pointed out that a minority of people
"run  this country"  because so  many individuals
choose not to vote. City councils  have more control
than  most  people understand,  he said.    It is
important that communities understand  their city
council, because those  bodies often are controlled
by big business and commercial interests, he stated.
Mr. MacDonald suggested that, before voting for
politicians,  people should ask  those  politicians
whether they intend to support  new industries or
sources of pollution if they are elected.

3.33 Donnel Wilkins,  Detroiters Working  for
     Environmental Justice, Detroit, Michigan

Noting that EPA's mission ensures the protection of
health, Ms. Donnel Wilkins, Detroiters Working for
Environmental  Justice, Detroit, Michigan, recounted
the story of a 15-year-old girl who died of an asthma
attack. A common-sense approach must be taken
to address the health effects on communities and
the issues of concern to those communities, she
said.  She  suggested that a remedial  education
project  should  be   developed  that  includes
representatives of local, state, and Federal agencies,
and  of communities,  as  well.   There  is  an
assumption, she continued, that communities do not
understand the  issues they  face, and there is
disregard   for   the   knowledge   members   of
communities  possess.   Existing laws should be
enforced,  and  health  must  be  placed  first  in
importance, she stated. Also needed is a reversal in
the trend that places the burden on communities to
prove that health disparities exist, she added.

Ms. Wilkins discussed a recent battle against a
hospital in her community that had a medical waste
incinerator that was  not  in  compliance  with
applicable regulations. The community learned that
rates of asthma were higher in areas adjacent to the
facility, and it was successful in shutting down the
facility, she explained. Before that was done, she
stated, the community was required to prove that the
health  problems of its members  were linked  to
emissions from the incinerator. Ms. Wilkins pointed
out that  the  answers to  some  environmental
problems  exist,  but more  interaction  among
agencies and sharing of resources are necessary to
effectively implement such solutions. She noted as
well  the  need  for  a better understanding  of
cumulative effects and the health risks they pose.
2-24
               Atlanta, Georgia, May 23 and 24,2000

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                      MEETING SUMMARY
                            of the
                AIR AND WATER SUBCOMMITTEE
                            of the
     NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                         May 25, 2000
                      ATLANTA, GEORGIA
     Meeting Summary Accepted By:
Alice Walker
Office of Water
U.S. Environmental Protection Agency
Co-Designated Federal Official
Wil Wilson
Office of Air and Radiation
U.S. Environmental Protection Agency
Co-Designated Federal Official
Michel Gelobter
Chair


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                                       CHAPTER THREE
                                      SUMMARY OF THE
                               AIR AND WATER SUBCOMMITTEE
              1.0  INTRODUCTION

 The Air and Water Subcommittee of the National
 Environmental Justice Advisory Council  (NEJAC)
 conducted a one-day meeting on Thursday, May 25,
 2000, during a four-day meeting of the NEJAC in
 Atlanta, Georgia.  Dr. Michel Gelobter, Graduate
 Department  of   Public  Administration,  Rutgers
 University, continues  to serve as  chair of the
 subcommittee.     Ms.   Alice  Walker,   U.S.
 Environmental Protection Agency (EPA) Office  of
 Water (OW), and Dr. Wil Wilson EPA Office of Air
 and Radiation (OAR), continue to serve jointly as the
 Designated   Federal  Officials  (DFO)  for the
 subcommittee.   Exhibit 3-1 presents  a list of the
 members who attended the meeting and identifies
 those members who were unable to attend.

 This  chapter, which provides a summary  of the
 deliberations of the Air and Water Subcommittee, is
 organized   into   five  sections,   including  this
 Introduction. Section 2.0, Remarks, summarizes the
 opening remarks of the chair of the subcommittee.
 Section 3.0,  Review of the December 1999 Meeting
 Summary, summarizes  the comments made  by
 members of the  subcommittee on the preliminary
 draft of the summary of the subcommittee's meeting
 in December 1999. Section 4.0, Presentations and
 Reports, presents an overview of each presentation
 and report  delivered during the  subcommittee
 meeting, as well as a summary of the questions
 asked and comments offered by members  of the
 subcommittee.    Section  5.0,  Resolution and
 Significant Action Items, summarizes the resolution
 forwarded to the Executive Council of the NEJAC for
 consideration and  the  significant  action  items
 adopted by the subcommittee.

               2.0  REMARKS

 Dr. Gelobter began the subcommittee meeting by
 welcoming the members present and  Ms. Walker
 and Dr. Wilson to the third meeting of the Air and
 Water Subcommittee. He introduced Ms. Annabelle
 Jaramillo, Citizens' Representative, Oregon Off ice of
 the Governor,  as  the  new vice-chair  of the
 subcommitee.  He announced that Ms. Jaramillo
 would serve as subcommittee chair should  it be
 necessary for him to leave the meeting during the
 day. Dr. Gelobter then asked the members of the
 subcommittee and speakers at the meeting table
 and the representatives of EPA in the audience to
                                    Exhibit 3-1
       AIR AND WATER SUBCOMMITTEE

                   Members
            Who Attended the Meeting
                 May 25,2000

            Dr. Michel Gelobter, Chair
        Ms. Annabelle Jaramillo, Vice Chair
            Ms. Alice Walker, co-DFO
             Dr. Wil Wilson, co-DFO

               Dr. Bunyan Bryant
                Ms. Daisy Carter
             Ms. Rosa Hilda Ramos
             Mr. Leonard Robinson
              Mr. George Smalley*
             Mr. Damon Whitehead
            Ms. Marianne Yamaguchi

                  Members
          Who Were Unable to Attend

               Dr. Elaine Barron
             Ms. Clydia Cuykendall
             Dr. Daniel Greenbaum

  * Mr. George Smalley served as a proxy for Ms.
  Clydia Cukendall

introduce  themselves.    Mr.  George  Smalley,
Manager, Constituency and Community Relations,
Equiva Services LLC, served as a proxy for Ms.
Clydia Cukendall,  JC Penney.  Dr. Carlos Padin,
School of Environmental Affairs, The Metropolitan
University  and   chair  of  the  Puerto  Rico
Subcommittee of the NEJAC, a new member of the
NEJAC, was observing the various subcommittees.
Dr. Gelobter concluded his opening remarks by
stating that, although meetings of the subcommittee
are  not  fully  open to  audience  participation,
members of the  audience  would  be  given the
opportunity to ask questions if time permitted and if
an issue was pressing.
Atlanta, Georgia, May 25,2000
                                          3-1

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Air and Water Subcommittee
      National Environmental Justice Advisory Council
    3.0  REVIEW OF THE DECEMBER 1999
             MEETING SUMMARY

Members of the subcommittee began by reviewing
the  preliminary  draft  of  the  summary of the
December 1999 meeting of the subcommittee.

To clarify a point of information, Ms. Dana Minerva,
Deputy Assistant Administrator, EPA OW, stated that
Mr. Will Hall, EPA OW, had made a presentation on
concentrated  animal feeding operations (CAFO)
during the  December 1999  meeting  of the
subcommittee.

Ms. Daisy Carter, Director, Project Awake, asked
about the status of EPA's response to her request,
cited at the bottom of page 3-8 of the  preliminary
draft, that called for EPA to develop a time frame for
accomplishing its goals under its economic incentive
program  (EIP),  programs state agencies  can
implement under the Clean Air Act (CAA) to improve
air quality.  EPA did not provide a response. Ms.
Jaramillo asked that Ms. Carter's request be added
to the list of action items for the present meeting of
the subcommittee.

Dr. Gelobter  moved that revisions discussed be
incorporated into the draft summary. Ms. Marianne
Yamaguchi, Director, Santa Monica Bay Restoration
Project,   seconded the  motion, and the motion
passed.

    4.0  PRESENTATIONS AND REPORTS

This section summarizes the presentations made
and  reports  submitted to the  Air  and  Water
Subcommittee, including discussions that took place
during a joint session with  the Waste and Facility
Siting Subcommittee of the NEJAC on reducing toxic
loadings.

4.1  Public Utilities

Members  of  the   subcommittee  continued
discussions initiated during the December 1999
meeting of the subcommittee about the  effects and
regulation  of  public   utilities,  as   related  to
environmental justice.

Dr. Gelobter stated that Dr. Daniel Greenbaum,
Health Effects  Institute,  is  the  chair  of the
subcommittee's Public Utilities Work Group. On
behalf of Dr.  Greenbaum,  Dr.  Gelobter then
presented an update on the progress of the work
group.  He summarized the discussion  of public
utilities that took place during the December 1999
meeting  of the subcommittee.  He reported that
nationwide, 80 percent of the harmful effects on air
quality result from energy use. Dr. Gelobter stated
that the primary focus of the work group is to involve
the NEJAC in policy decisions associated with the
regulation of air emissions from public utilities. He
added that a secondary goal of the work group is to
examine  the  local,  regional,  and   national
environmental  effects of the  energy industry on
environmental  justice communities.  Dr. Gelobter
reported that Dr. Greenbaum and the Public Utilities
Work  Group  are  committed to an aggressive
agenda.

Dr. Gelobter then introduced  two  presentations
related to public utilities.

4.1.1   Coal-Fired Power Plants in Georgia

Ms.  Felicia Davis Gilmore,  Director,  Georgia
AirKeepers Campaign Director, Ozone Action, and
Ms. Connie Tucker, Executive Director, Southern
Organizing  Committee for Economic and  Social
Justice and former member of  the Waste and
Facility  Siting  Subcommittee of  the  NEJAC,
presented  concerns  about  the  health  and
environmental  effects of  coal-fired power plants in
Georgia.

Ms. Tucker stated that  the Southern Organizing
Committee   for  Economic  and  Social  Justice
represents  communities  that have environmental
justice concerns in Georgia that are affected by dirty
power plants.  She said  that the organization felt
compelled to become involved in the national clean
aircampaign because asthma is an epidemic among
African Americans and  Latino Americans.  She
reported that Atlanta is in noncompliance with the
requirements of the CAA.  She stated that, on certain
days, local citizens actually can smell the ozone in
the air.  She then introduced Ms.  Gilmore, a long-
time  community-based  activist,  to   make   a
presentation on the effects of public utilities on the
health of  environmental justice  communities in
Georgia.

Ms. Gilmore stated that the right to breathe clean air
is among the fundamental rights of humans. She
stated that the citizens  of Georgia  are primarily
concerned about cars and their contributions to air
pollution; there is little concern about the effects of
power plants on air pollution, she pointed out. She
reported that coal-burning power plants in Georgia
play a significant role in the state's "smog crisis."

Ms. Gilmore discussed the current levels and health
effects of pollution from coal-fired  power plants,
citing the following statistics: 23 percent of nitrogen
oxides that form smog, 82 percent of sulfur dioxide
that form particulate pollution and  acid  rain, 42
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 National Environmental Justice Advisory Council
                       Air and Water Subcommittee
 percent of the greenhouse gas carbon dioxide, and
 approximately one-third of toxic mercury emissions
 in Georgia are generated by coal-fired power plants.
 She reported that Georgia derives 64 percent of its
 electricity from  11  coal-fired power plants in the
 state.  Nuclear power (30 percent), hydroelectric
 power (5 percent), natural gas (0.4 percent), and oil
 (0.3 percent) make up the remaining power sources
 in Georgia.

 Ms. Gilmore said that coal-fired power plants pollute
 at rates up to nine times higher than the CAA allows
 for new power plants.  She explained that, when the
 CAA was being revised, industry lobbyists convinced
 members of Congress that power plants in existence
 before  1980 were to be phased  out soon and
 replaced with more efficient systems. She stated
 that  the  industry  lobbied  for exemption  from
 requirements for the installation of the best available
 technology,  which consisted  of selective catalytic
 reduction systems for nitrogen oxides and scrubbers
 for sulfur dioxide. However, she reported, all 11
 coal-fired  power plants in  Georgia  are still  in
 operation more than 20 years later.  She estimated
 that,  if Georgia's existing  coal-fired power plants
 were to meet the same standards imposed upon
 new coal-fired power plants, emissions of nitrogen
 oxide and sulfur dioxide would be reduced by 68
 percent and 78 percent, respectively.  She stated
 thatthose reductions in emissions were equivalent to
 the reductions that would be achieved by removing
 4.8 million cars from the road.

 Ms. Gilmore then discussed a comparison of the
 cost of cleaning up the existing coal-fired  power
 plants in Georgia with  the  cost associated  with
 maintenance of the status quo. Acknowledging that
 the way a company chooses to spend its money is
 rooted in  its priorities,  she  described  Southern
 Company, owner or co-owner of the 11  coal-fired
 power plants in Georgia. The company, she said,
 has spent over $3.4 billion dollars on investment
 outside  its traditional southeast service area and
 asked the Public Service Commission to raise its
 rates  so that the company could spend up to $4
 billion more.  Ms. Gilmore explained that the Public
 Service Commission  regulates the  rates  that
 customers pay for utilities.  She stated that the
 money could  have been  invested in statewide
 cleanup.  Ms. Gilmore then reported that clean air
 specialists had estimated a conservative cost for
 bringing Georgia's 11 coal-fired.power plants up to
 modern-day standards of approximately$156 million
 per year for 15 years for nitrogen oxide controls and
$222 million  per year for 15 years for sulfur dioxide
controls.   She  added that,  in 1999, Southern
Company reported a revenue of $11.4 billion and a
net income of $977 million.
 Ms. Gilmore then reported on the estimated cost to
 society if the existing coal-fired power plants are not
 cleaned up.  According to Research Atlanta, an
 independent  public  policy group,  the cost  of
 nonattainment of Federal air quality standards for
 ozone and particulates in the Atlanta area will be
 higher than the cost of cleanup.  She then cited
 several reasons to support that finding, such as poor
 air quality makes Georgia less attractive to new
 businesses and  limits the  state's prospects  for
 economic development. The economy also suffers
 when the  benefits of  new technology,  such as
 renewable energy are ignored, she continued. She
 stated that the decrease in agricultural productivity
 as a result of high levels of ozone in Georgia is
 estimated to be draining $250 million from Georgia's
 economy each year, adding that health costs also
 are high.   It  is estimated, she pointed  out, that
 billions  of  dollars included in the  nation's  annual
 health costs are associated with outdoor airpollution.
 Ms.  Gilmore  added   that other health   costs
 associated with air pollution include increases  in
 health-care insurance  premiums because  of the
 increasing number of visits to emergency rooms and
 doctors' offices and more widespread use of asthma
 medications.

 Ms.  Gilmore  stated  that  the  solution   to such
 problems must be arrived at on the Federal level.
 She reported that the proposed Clean Smokestacks
 Act of 1999 is the most comprehensive bill so far
 that addresses the air emissions problems related to
 coal-fired power plants.  She explained that the act
 mandates that 30-year-old power plants  meet the
 standards under the CAA that govern new power
 plants.   It  also sets standards  for mercury and
 carbon  dioxide, which currently are unregulated
 under the  CAA,  she  said.   She stated that
 Representatives John Lewis (D-Ga.) and Cynthia
 McKinney (D-Ga.) are co-sponsors of the bill. She
 asked that  members of the subcommittee and the
 audience also urge their representatives to support
 the legislation.

 Ms. Gilmore also discussed the need for a public
 education campaign to inform lower-income and
 minority communities about the effects of coal-fired
 power plants  in  Georgia.    She  urged  the
 subcommittee to pass a resolution to support such
 a campaign. She explained that many families are
 unaware of the health effects because they cannot
 actually see the pollution.

 Ms.   Rosa   Hilda  Ramos,  Community   Leader,
 Community  of Catano  Against  Pollution, asked
whether the  proposed  Clean  Smokestacks Act
applies to  oil-fired power plants.   Ms.  Giimore
Atlanta, Georgia, May 25,2000
                                           3-3

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Air and Water Subcommittee
      National Environmental Justice Advisory Council
explained that the bill pertains exclusively to coal-
fired power plants.

Ms. Eileen Gauna, Professor of Law, Southwestern
University of Law, asked how many of the 11 coal-
fired power plants in Georgia are located in or near
low-income communities of color. She also asked
which kind of air pollution - including nitrogen oxide,
sulfur oxide, and carbon  dioxide pollution - have
localized effects. Third, Ms. Gauna asked whether
power plants  continue  operating  by identifying
process changes as maintenance and repair, rather
than modifications.

In response to  Ms.  Gauna's first question, Ms.
Gilmore  stated that  her organization had  been
examining the demographics of communities in the
vicinity of the power plants. She stated that, to date,
the  results of  the  examination had  shown  no
disparate effect of air pollution from the coal-fired
power plants on environmental justice communities.
She said that the entire  population seems to be
affected equally by the pollution.  That fact, she
noted, is a "wonderful twist to the environmental
justice opportunity"  because it brings  together
traditional environmental groups and environmental
justice groups.   Ms.  Gilmore did acknowledge a
disparity in rates of asthma in minority communities
because such groups generally experience a higher
incidence of  respiratory problems than higher-
income groups.

Mr. John  Sertz,  Director, EPA OAR at Research
Triangle  Park, explained that the existing  power
plants have grandfathered rights and therefore are
not required to meet many current standards, under
the CAA. He pointed out that EPA does not have the
authority to shut down power plants.  However, he
noted, EPA can mandate the use of best available
technologies to mitigate air pollution.

Ms. Yamaguchi stated that, in Los Angeles, smog
reports are issued like weather reports. She asked
Ms. Gilmore about the reporting of air pollution in
Atlanta.  Ms. Gilmore said that similar advisories are
issued in Atlanta, but that knowledge in the lower-
income  communities about the health problems
associated with those advisories is insufficient. She
added that more affluent residents relocate away
from the city or are sufficiently aware of the problem
to stay indoors when such advisories are issued.
Families in lower-income communities, on the other
hand, often are not able to relocate to an area where
the air is cleaner or are unaware of the  health
problems air pollution causes, she said. Ms. Gilmore
reemphasized her organization's position that lower-
income communities  must be educated about the
health problems associated with air pollution.
Dr. Gelobter suggested to Ms. Gilmore that Georgia
Air Keepers participate in the subcommittee's Public
Utilities  Work Group.   Ms. Gilmore agreed.   Dr.
Gelobter then  stated  that  a  public  education
campaign on coal-fired  power plants should be on
the work group's agenda.  Mr. Damon Whitehead,
Earth Conservation  Corps, referred to a mercury
study by the National Academy of Sciences (NAS)
that Mr. Tom Goldtooth, Indigenous Environmental
Network and  chair of  the  Indigenous Peoples
Subcommitee of the NEJAC, had discussed during
the meeting of the Executive Council of the NEJAC
on the previous day. Mr. Whitehead requested that
the Public Utilities Work Group obtain a report on
that study. Dr. Bunyan Bryant, Professor, School of
Natural  Resources and  Environment, University of
Michigan,  requested   a  copy  of  the  Clean
Smokestacks Act of 1999 that Ms. Gilmore had
discussed.

4.1.2    Regulation  of  Mercury Emissions from
        Coal-Fired Power Plants

Ms. Ellen Brown, EPA OAR, asked the members of
the subcommittee for their views on whether EPA
should regulate mercury emissions from coal-fired
power plants. She reported that EPA is required to
make a finding no later than December 15,2000, on
whether it is appropriate and necessary to regulate
hazardous air pollutants (HAP), including mercury,
from coal-fired power plants. She stated that, if EPA
decides to regulate, the Agency faces a deadline
under law to propose a regulation by December
2003.  She added that  a final regulation would be
issued in December 2004 and implemented fully by
the end of 2007.

Ms. Brown presented some background information
about the issue of whether mercury emissions from
coal-fired power plants should be  regulated.  In
February 1998, she reported, EPA published a report
to Congress on HAPs generated by electric power
plants.   In  the report, EPA  identified mercury
emissions from coal-fired power plants as the HAP
of greatest  concern as  a public health  issue.
Continuing, Ms. Brown stated that coal-fired power
plants are the largest source category of mercury
emissions in the United States,  accounting for one
third of anthropogenic emissions to the air. Merci)ry
emissions are  transported through the air and
deposited to water and land, she explained. Once
mercury enters the water,  either through  air
deposition, run-off from the land, or directly, it can
bioaccumulate in fish and animal tissue as methyl
mercury, a highly toxic form of  mercury, she said.
Ms. Brown reported that human exposure to mercury
occurs   primarily  through   consumption  of
contaminated fish.  Exposure to high levels of
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 National Environmental Justice Advisory Council
                       Air and Water Subcommittee
 mercury  has   been  associated  with  serious
 neurological and developmental effects in humans,
 she pointed out,  noting that EPA disseminates
 information about mercury to the public primarily
 through fish consumption advisories.

 Ms. Brown stated that, beginning in 2000, EPA is
 requiring  electric utilities to report  their mercury
 emissions to the Toxics  Release Inventory  (TRI).
 She explained that, in the past, few such facilities
 have reported mercury releases to the TRI because
 the reporting threshold was too  high to  capture
 releases from many facilities.

 Ms. Brown stated that, because the decision that
 EPA must  make this  year will not  require a
 regulation, there was to be  no public comment
 period. However, she asked that the subcommittee
 provide comments  to assist  EPA in making  the
 decision.  In clarification, Dr.  Gelobter stated that
 EPA merely  wants  a  simple  "yes"  or  "no"
 recommendation from the subcommittee. Mr. Seitz
 added that the members of the subcommittee have
 an opportunity to share their  knowledge  about
 mercury and share their views with EPA as part of
 the Agency's data collection process.  Dr. Bryant
 observed  that EPA already has  the data it needs,
 stating that he did not understand why EPA needs
 help in making the decision.

 Ms. Carter asked why, if mercury emissions are not
 a problem, EPA is alarming citizens about mercury.
 She added that, if mercury does pose a threat of
 detrimental effects on the health of citizens, EPA
 should not require a commitment on the part of the
 subcommittee for the need to  regulate mercury
 emissions.  Mr. Seitz responded that EPA  must
 consider  science and  listen  to all views.    He
 emphasized that there are numerous stakeholders
 who have different views about whether mercury
 emissions are a problem.  Ms. Carter added that, at
 one time, dioxin was not regarded as a problem, but
 now it is regarded as highly toxic.  She expressed
 anticipation that a similar change in views will occur
 in relation to the issue of mercury emissions.
Ms. Jaramillo  stated her understanding that the
impetus for EPA is notto determine whether mercury
is a problem. Instead, she said, EPA wants to hear
about the health effects of mercury on people around
the country.  Ms. Jaramillo noted that the mercury
issue is "already on the table."

Ms. Minerva stated that  the  effects of mercury
emissions are disproportionate because certain
populations eat more fish than other groups.  Dr.
Gelobter agreed.  He then stated that,  while the
 locations of mercury emission sources do not cause
 disproportionate  effects,  the  health  effects are
 disproportionate  as   a  result  of   higher  fish
 consumption levels among certain groups.

 Mr. Whitehead moved that the subcommittee adopt
 a resolution to support EPA's regulation of mercury
 emissions from coal-fired power plants, adding that
 the decision whether to regulate mercury was "a no-
 brainer." Dr. Gelobter agreed that the subcommittee
 should adopt Mr. Whitehead's suggestion.   Ms.
 Yamaguchi  also  stated that  she  hoped  the
 subcommittee  would  adopt a strong resolution
 supporting EPA's regulation of  mercury emissions.
 She asked that EPA report to the subcommittee on
 its decision on the matter at the next meeting of the
 NEJAC.

 Mr. Whitehead agreed to draft the resolution to urge
 EPA to regulate mercury emissions from coal-fired
 power plants.  Dr. Gelobter told the representatives
 of EPA that the subcommittee also would like to be
 involved  actively  in   the  process   after  the
 determination has been made, including involvement
 in rulemaking. Mr. Whitehead added that, in addition
 to urging EPA to make a positive decision to regulate
 mercury emissions  and  becoming  involved in
 subsequent rulemaking, the subcommittee would
 like some assurance that the science (for example,
 the  results  of NAS  research  on mercury)  will
 consider environmental justice issues.

 4.1.3   Power  Plants in Puerto Rico

 Dr.  Gelobter   reminded  the  members  of  the
 subcommittee about the resolution concerning EPA's
 regulation of power plants in Puerto Rico that was
 approved by the Executive Council at the December
 1999  meeting.  Ms. Ramos said  that  states and
 territories have the alternative  to choose which
 strategy to  use in dealing  with  air pollution in
 nonattainment areas. She reported that Puerto Rico
 had chosen a sulfur-free fuel strategy that requires
 the use of 1.5 percent sulfur fuel.  She stated that
 Puerto Rico had eliminated limitations on emissions
 that are set forth in the CAA.  In the resolution, she
 reminded the members of the  subcommittee,  the
 NEJAC had recommended that  EPA review Puerto
 Rico's strategy to  reduce toxic air emissions.  Ms.
 Ramos  expressed  her dissatisfaction with  the
 response of EPA Region 2, stating that the Agency
 had made false statements about the issue.  She
asked that the NEJAC arrange  an urgent meeting
with Mr. Seitz; Mr. Robert Brenner, Acting Deputy
Assistant  Administrator,  EPA  OAR;   and
 representatives of EPA Region 2, observing that the
issue easily could prompt  a lawsuit. Ms. Ramos
asserted that she and her fellow Puerto Ricans were
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Air and Water Subcommittee
     National Environmental Justice Advisory Council
ready to file suit but would prefer to resolve the
conflict otherwise. She added that she has evidence
that EPA Region 2 had misled the citizens of Puerto
Rico on  the issue.  Dr. Gelobter asked that the
subcommittee's Public  Utilities Work Group help
organize the dialogue.

4.2 Concentrated Animal Feeding Operations

The subcommittee  heard presentations  on the
environmental and health effects  of CAFOs. The
subcommittee submitted to the Executive Council for
consideration a proposed resolution, developed
jointly with the Enforcement Subcommittee of the
NEJAC,  that   recommends  that  EPA  commit
additional resources to the regulation of CAFOs.

4.2.1   U.S. Environmental Protection Agency
       and the U.S. Department of Agriculture
       Regulation  of  Concentrated  Animal
       Feeding Operations

Mr. Louis Eby, Attorney-Advisor, Permits Division,
EPA Office of Wastewater Management, provided
information about CAFOs, the proposed National
Pollutant Discharge  Elimination System (NPDES)
permitting guidance on the regulation of CAFOs, and
the joint  EPA and U.S.  Department of Agriculture
(USDA) unified national  strategy for animal feeding
operations (AFO):

He explained  that  under 40 Code of  Federal
Regulation (CFR) 122.23 and Appendix B, CAFOs
include all AFOs having more than 1,000 animal
un'rts, as well as all  AFOs having more than 300
animal units, if such  a  facility  has  an  artificial
conveyance or discharges directly into water bodies
that cross the property.  In addition, Mr. Eby stated
that a CAFO is exempted if the discharge occurs
only during a 25-year, 24-hour storm event.  Mr. Eby
then explained that the primary problems associated
with CAFOs are overenrichment of a water body,
pathogens, and contamination of drinking water
sources.  He reported  that some 80 percent of
CAFOs are located  in  just  16 states:  Alabama,
Arkansas, California, Delaware, Georgia, Indiana,
Iowa, Maryland, Minnesota, Mississippi, Nebraska,
North Carolina, Oklahoma,  Pennsylvania, Texas,
and Virginia.   He added that, of the more than
375,000 AFO facilities in the United States, almost
13,000 are classified as CAFOs.

Mr.  Eby described EPA's  NPDES  permitting
guidance proposed in August 1999, noting that the
guidance is expected to  be made final by late spring
2000. The guidance states that CAFOs that have a
potential to discharge must apply for an  NPDES
permit that addresses land application of waste at
the facility. The guidance also specifies that CAFOs
are to develop comprehensive nutrient management
plans (CNMP) that ensure compliance with the
requirement for no discharge, except in a 25-year,
24-hour storm.

Mr. Eby  also  described  the  EPA-USDA  unified
national strategy  for  AFOs,  which focuses  on
protection of water quality. The strategy includes
USDA technical guidance on developing CNMPs and
revises  NPDES  permitting  rules  and  effluent
limitation  guidelines to address CAFOs. Mr. Eby
stated that the proposed revised regulations are
expected to be made final by December 2000, with
final regulations to be issued two years thereafter.

Mr. Eby stated that, to  support EPA OW in issuing
the NDPES guidance and implementing the EPA-
USDA strategy, it is important to identify where
CAFOs are located. He referred to the proposed
NEJAC resolution that was to be discussed further
and  presented some  preliminary comments  on
several provisions of the  proposed  resolution,  as
follows:

•  With regard to the  suggestion of a moratorium
   on all animal waste lagoons and land application
   fields, Mr. Eby stated that EPA has no regulatory
   authority to declare such a moratorium.  While
   EPA is revising its regulations to include more
   protective standards, it cannot restrict all land
   applications.   He  emphasized the distinction
   between  good  agricultural  practices  and
   discharge practices, stating that it is possible to
   operate animal waste lagoons in an acceptable
   manner  that  incorporates  good  farming
   practices.

•  In response to the concern expressed that EPA
   is issuing  permits to facilities that  are not
   applying manure properly, Mr. Eby stated that
   EPA  is focusing on  facilities that have the
   potential to discharge.

•  With regard to regulation of poultry litter, Mr. Eby
   said that EPA will include such provisions in its
   guidance, specifically related to the application
   of dry poultry litter on land.

•  With  regard to siting  requirements to  protect
   waterways, he explained that EPA generally
   does not dictate where facilities can be located.
   However, he said,  in its guidance, the Agency
   will attempt to relate the location of facilities to
   environmental effects.

«  With  regard to the expansion of public  notice
   and public comment opportunities in the permit
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 National Environmental Justice Advisory Council
                       Air and Water Subcommittee
         application process for CAFOs, he stated
         that EPA included such expanded efforts
         into the guidance at specific points in the
         application process.

 •   Referring  to  the  call  for  unannounced
     inspections, Mr. Eby stated  that EPA already
     conducts such inspections.

 •   With regard to the use of new technologies, he
     stated that revised regulations to be proposed in
     December 2000 will encourage the use of new
     technologies to mitigate the effects  on the
     environment of discharges from CAFOs.

 •   With regard to new regulations to address new
     land uses for areas that are phased out of CAFO
     use, he stated that EPA is examining options to
     rededicate those lands.

 •   With regard  to  the  suggestion  that   new
     regulations  impose  stringent  penalties  for
     noncompliance, Mr.  Eby explained that the
     current  regulations allow states to impose a
     $25,000-per-day fine.

 4.2.2   Joint Resolution on Concentrated Animal
        Feeding Operations

 Ms. Nan Freeland, Natural  Resources Leadership
 Institute and a proxy member of the Enforcement
 Subcommittee of the NEJAC, made a presentation
 on CAFOs  located in North Carolina.  She also
 described the latest proposed draft resolution jointly
 developed by the Enforcement and Air and Water
 subcommittees, which urges EPA to commit more
 resources to the regulation of CAFOs.

 Ms. Freeland stated that she had  noticed a  parallel
 between energy and  utility companies  and large
 agricultural companies in North Carolina.  She said
 that those large businesses are wealthy and have
 easy access to members of Congress. They have a
 strong voice in Congress, while smaller community
 groups only have forums like the NEJAC to express
 their concerns, she noted.

 Ms. Freeland  referred to  the  proposed  joint
 resolution on CAFOs prepared by the Air and Water
 and Enforcement subcommittees.  She said that the
 resolution  addresses  most of  the  problems
 associated with CAFOs. Specifically, she reported,
 North Carolina has an unprecedented history of large
 swine operations. She said that those facilities pose
the threat of a variety of adverse health  effects,
 ranging  from  bad  odor  to  groundwater
contamination. She stated that most people in North
Carolina depend on well water.  Therefore, she
 pointed out, any amount of contamination in the
 groundwater would compromise the quality of their
 drinking water. Ms. Freeland added that most of the
 CAFOs in North Carolina are located in the eastern
 part of the state, where the water table is generally
 high and the wells therefore are not very deep. She
 explained that any seepage or leaching from the
 waste  lagoons  likely  would  easily  enter  the
 groundwater.

 Ms.  Freeland  then introduced Dr. Steve  Wing,
 Department of Epidemiology, University of North
 Carolina-Chapel Hill, who conducted a study which
 found that CAFOs generally are located near African
 American churches and schools.   Ms. Freeland
 explained that, in the south, having a CAFO near a
 church is tantamount to having one in  a backyard,
 since churches play a significant  role in people's
 lives. The church, she said,  is a community center
 for people who live in rural areas.

 Dr. Wing then described the animal waste lagoons
 and how they are used. The animal waste is flushed
 into open pits surrounded by dams. Because the
 pits will overflow during heavy rainfall, farmers must
 empty the pit when rain is forecast, he continued. In
 such cases, the raw, untreated waste is applied
 directly to the fields. The fields usually are not lined
 because, in North Carolina, many fields were once
 wetlands that were drained by subsurface pipes, he
 explained. As a result, moisture from the  fields
 literally is piped to surface water bodies, he said.

 Dr. Wing then reported that, in Fall 1999, the North
 Carolina Department of the  Environment and the
 Department of Natural Resources allowed farmers to
 apply significant quantities of waste to their fields
 because  of the  series of  hurricanes that  had
 occurred at the time. Environmental groups brought
 lawsuits against the state, he continued, but the state
 allowed the North Carolina Pork Council to mount a
 defense on its behalf. Dr. Gelobter commented that
 the situation described by Dr. Wing appeared to be
 a case  of complete negligence on the part of the
 state. He asked that the CAFO resolution reflect two
 levels  of  enforcement,  specifically enforcement
 against  negligence by states and enforcement by
 Federal authorities.

 Ms.  Freeland commended EPA for its efforts to
 address the issue,  but stated that the guidance
 should be strengthened. She expressed her opinion
that EPA's revised permitting regulations fail to meet
the  objectives  of curbing  the  water pollution
problems associated with CAFOs. She urged EPA
to pass permitting guidance that at least requires
 regular testing  of groundwater and surface water.
She also urged that monitoring of odor and use of
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Air and Water Subcommittee
                                                      National Environmental Justice Advisory Council
buffer strips around land application fields to protect
the  neighboring  communities  be  included  in
regulations.

Ms.  Minerva responded that  EPA's enforcement
program  had  been  rigorous  in  meeting  its
responsibilities. She referred  to the efforts of Mr.
Samuel Coleman, Director, Compliance Assurance
and  Enforcement Division,  EPA  Region 6,  in
Oklahoma.  Mr. Coleman then reported that, two
weeks earlier, EPA had performed inspections atf ive
CAFO  facilities   and  one  rendering  plant  in
Oklahoma. At all the facilities, he continued, EPA
Region 6 had identified various violations, including
lagoons that had been built in areas that may have
been filled wetlands, exceedences in the amount of
liquid waste applied  to the land, and  animal
carcasses that had been disposed of improperly.
Mr. Coleman stated that his staff was preparing a
cease-and-desist order for the confirmed violations,
and  that corrective actions would  be taken.  Mr.
Coleman added that many of the facilities inspected
were operated by the same owner.

Ms. Minerva stressed thatthe proposed new NPDES
permitting  guidance is  as  strong as  current
regulations and that EPA is taking as aggressive a
position as the law allows.  She emphasized that
EPA has expanded its  view.  She reinforced Mr.
Eby"s statement • that  EPA  does  not  have the
authority to impose a moratorium on animal waste
lagoons and land applications, also adding that EPA
does not have clear authority to address emissions
of odors by CAFOs.

Ms.  Yamaguchi asked  whether the  odor problem
associated with CAFOs could  be addressed under
the CAA.  Mr. Seftz stated that EPA does not have
authority underthe CAA to address the odor problem
cited in the proposed resolution.  He explained that
it generally has been the responsibility of state and
local governments to  deal  with  odor  issues.
However, he  stated, EPA's involvement  can be
triggered if certain constituents in the air, such as
ammonia or sulfur, contribute to the odor. He added
that EPA also would become involved if particulates
in the air are a problem.

Ms.  Carter asked whether it is possible to require
farmers to locate their farms at least 25 to 50 miles
from the nearest residence or neighborhood.  She
recommended that a statement related to proximity
be incorporated into the  proposed resolution  to
protect  neighboring communities.   Ms.  Minerva
responded that EPA does not have legal authority to
impose a distance requirement.  Mr. Gary Grant,
Concerned Citizens of Tillery, commented that, in his
opinion,   it  seemed  that  "justice is just for
corporations."  He stressed that, if EPA does not
have jurisdiction over siting, people in other parts of
the country  will  suffer as the citizens of North
Carolina have. Mr. Grant then stated that siting is an
environmental justice issue.

Mr. Whitehead asked that an analysis be performed
of EPA OW's legal authority under the Clean Water
Act (CWA).   He commented  that EPA  is very
conservative about its authority, perhaps rightly so,
he  noted.   He  asked,  however, whether  the
subcommittee could receive a simple and broad
description of the authority of EPA OW.

Dr. Bryant suggested that EPA develop a geographic
information system (GIS) data base of CAFOs to
facilitate monitoring. Ms. Minerva stated that, since
the facilities obtain permits under the new NPDES
permitting guidance, their locations will be known
and they can be mapped.  Mr. Eby noted that data
on the  exact locations of CAFOs currently are
limited.   Dr. Gelobter asked  that EPA consider
providing the subcommittee with some maps based
on the approximate locations of the known CAFOs.
He asked that such maps be made available to the
subcommittee at the next meeting  of the NEJAC.
Ms. Freeland recommended that EPA solicit from
residents of  rural areas  information  about the
locations of CAFOs; those people will know where
the facilities  are,  she  observed.  Mr. Whitehead
asked  that  demographic   information  about
communities located in the vicinity of CAFOs also be
included in the GIS data base. Dr. Padin stated that
most states have GIS maps of their jurisdiction that
include information about land  use. He added that
the USDA funds agricultural activities and therefore
should have information  about the locations of
CAFOs. He commented that, since USDA provides
funding for such activities, that agency may be a
source of financing for the adoption of alternative
technologies for use by the facilities to mitigate
discharges.

Ms. Freeland and Dr. Gelobter made final revisions
in the proposed CAFO resolution  after receiving
comments from both subcommittees.

4.3 Guidance for Reducing Toxic Loadings

The  Air  and Water  Subcommittee  held a joint
session  with  the  Waste and  Facility  Siting
Subcommittee to discuss EPA's draft guidance for
the efforts of local areas to reduce  the  levels of
toxics.

Mr. Timothy Fields, Jr., Assistant  Administrator,
EPA  Office  of  Solid Waste  and  Emergency
Response (OSWER), acknowledged the efforts of
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 National Environmental Justice Advisory Council
                       Air and Water Subcommittee
 Ms.  Minerva and  Mr. Brenner  to  reduce toxic
 loadings in overburdened areas.  He introduced a
 draft guidance proposed by EPA that is intended to
 provide ideas and  incentives to  help states and
 localities reduce  the  levels  of  toxics  in their
 communities.   He explained that  the  guidance
 describes a priority process for approval of state
 implementation  plans  (SIP)  that  include  toxic
 reduction plans, financial support for programs under
 which environmental justice issues are addressed,
 and Federal recognition of state and local programs
 intended to reduce levels of toxic pollutants.  He
 added that the guidance also includes an appendix
 that  describes  ways  in  which state  and  local
 governments can work together to reduce pollution
 in their communities.

 Mr.  Fields  asked  members  of  the   two
 subcommittees for their comments. He asked that
 they provide  their  opinions  about whether the
 guidance is adequate and complete and whether the
 administrative benefits are sufficient to encourage
 state, local,  and tribal governments to participate in
 achieving reductions in levels  of toxics.  He also
 asked for additional incentives that may encourage
 various sectors to participate.  He asked that the
 subcommittee review the guidance and provide
 comments to Ms. Jenny Craig, EPA OAR, by June
 30, 2000.  Mr. Fields added that EPA would then
 revise  the  guidance  in  response to comments
 received and  present the revised version to the
 subcommittee for the next meeting of the NEJAC.

 Ms. Mary Nelson, Bethel New Life, Inc., and member
 of the Waste and Facility Siting Subcommittee of the
 NEJAC, commented that the incentives  currently
 listed in the draft guidance "sound wonderful," but
 stated that she would expect that many governments
 will not  participate. She asked whether there were
 any regulatory mechanisms that could be used to
 encourage participation. Mr. Fields responded that
 the effort must be voluntary, since there currently is
 no regulatory mandate to participate. He added that
 EPA therefore must provide good incentives.

 Ms.  Ramos  asked why the guidance covers only
 hazardous ortoxic substances. Ms. Craig explained
 that each EPA program uses a different definition of
 hazardous and toxic substances. She stated that, in
 the guidance, those terms have a general meaning.
 Ms. Craig added that the definitions of those terms
 would be stated in the guidance..

 Mr. Mervyn Tano, President, International Institute
 for Indigenous Resource Management and member
 of the Waste and Facility Siting Subcommittee of the
 NEJAC, stated that, as  EPA reviews risk factors
 associated with toxic substances, the successes and
 failures of reduction efforts can be measured.

 Mr. Smalley asked what sources of  funding are
 available to local municipalities for the replacement
 of diesel buses with buses that run on alternative
 fuels, an action recommended in the guidance. Ms.
 Craig responded that EPA currently does not have
 grant money available for that or other activities
 described in the guidance.  She emphasized that
 good incentives are the key to making the voluntary
 program  work.    Ms.   Yamaguchi  added that
 resources are the greatest incentive. She suggested
 that pilot studies be used to "kickstatf the program,
 technical assistance  training  be provided  to
 governments on implementing the program, and that
 efforts be made  in direct  outreach  to specific
 communities that are interested in the program. Ms.
 Nelson asked that EPA consider encouraging the
 pooling  of the resources of various government
 programs,  for   example,  through  Agency
 partnerships. Mr. Fields agreed that the suggestions
 made by the members of the subcommittees were
 valuable.

 Ms. Ramos commented that most of the pollution in
 affected communities likely originates in industries
 that probably would not participate in such programs.
 Mr. Seitz responded that he  is encouraged by the
 positive outcome of the 3350 program, which was
 the precursor of the TRI voluntary reporting program.
 Mr.   Leonard   Robinson,  TAMCO,  expressed
 agreement with Mr. Seitz.

 Referring to local efforts to develop  goals and
 measure progress, Ms. Gauna asked that additional
 guidance be provided to overburdened areas that
 may need more aggressive strategies for reducing
 levels of toxics than other communities.  Mr. Fields
 agreed that areas that are overburdened may require
 more aggressive plans.

 Ms.  Patricia  Wood,  Senior Manager, Federal
 Regulatory Affairs, Georgia-Pacific Corporation and
 member   of   the  Waste  and  Facility  Siting
 Subcommittee  of the  NEJAC,  stated that she
 understood the objective of examining existing
 statutes  and  enforcing  environmental justice
 elements  in   those  statutes.    However,  she
 questioned the applicability of the guidance to any
 particular  region; it would be "in the eye of the
beholder" or the resident who lives in an area, she
said, whether his or her community is overburdened.
 Ms. Wood added that perhaps EPA should focus the
guidance  on  assessing  the relative  burden of
pollution in the communities.
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Air and Water Subcommittee
      National Environmental Justice Advisory Council
Ms.  Vemice  Miller-Travis,  Executive  Director,
Partnership  for   Sustainable   Brownfields
Redevelopment and chair of the Waste and Facility
Siting Subcommittee of the NEJAC, commented on
the retrofitting of diesel engines in New York City.
She reported that she had worked with EPA Region
2 and the state of New York to encourage use of
alternative fuels by making public funding available.
However,  she  explained,   the  Metropolitan
Transportation Authority (MTA) had blocked their
progress.  She  said that she would  like  to  use
regulatory tools to bring representatives of MTA to
the table, but does not wish to create incentives to
help the agency take an action it had failed in the
past to take to comply with the law. Referring to the
pilot studies as suggested by Ms. Yamaguchi, Ms.
Miller-Travis also acknowledged that it is difficult to
find a source of funding, but financial help should not
be provided to MTA to take an action that should be
required of it. The money should be directed toward
implementation  of  innovative technologies,  she
suggested.

To  clarify the issue, Ms.  Craig  stated that the
guidance and financial support are not intended to
help industry comply with existing laws.  She said
that they are meant to encourage voluntary efforts to
"go above and beyond" existing regulations,  adding
that compliance with existing laws is assumed.

Ms.   Veronica   Eady,  Executive  Office  of
Environmental   Affairs,  Commonwealth   of
Massachusetts  and  member of the Waste  and
Facility Siting Subcommittee of the NEJAC, said that
her state had  used provisions of the National
Environmental Policy Act (NEPA) to  prompt the
transit authority to use alternative fuels.

Ms. Minerva addressed the issue of voluntary rather
than regulatory  programs.    She presented  the
example of EPA OW's total maximum daily loads
(TMDL) program, which asks states to identify water
bodies that do  not meet water quality standards.
Exhibit 3-2 defines TMDLs. She explained that EPA
OW  envisioned that, as  states identified  their
impaired water bodies, they would take regulatory
steps to ensure that the water bodies  meet water
quality standards and take additional voluntary steps
to  manage  future  growth   in  neighboring
communities. She stated that regulatory compliance
and voluntary efforts should work together.

Mr. Johnny Wilson, Clark Atlanta University  and
member  of the  Waste   and  Facility   Siting
Subcommittee of the NEJAC, reported that while
EPA laboratory  reports  may indicate that water
quality in an area meets the  maximum contaminant
level (MCL), he had noticed during his inspections of
                                                                                      Exhibit 3-2
       TOTAL MAXIMUM DAILY LOAD

  A total maximum daily load (TMDL) is a calculation
  of the maximum amount of a pollutant that a
  waterbody can receive and still meet water quality
  standards, accompanied by an allocation of that
  amount to the sources of the pollutant.

  A TMDL is the sum of the allowable loads of a
  single pollutant from all contributing point and
  nonpoint sources. The  calculation must include a
  margin of safety to ensure that the waterbody can be
  used for the purposes the state, tribe, or territory has
  designated. The calculation also must account for
  seasonable variation in  water quality.

  Section 303 of the Clean Water Act establishes
  water quality standards and TMDL programs.
drinking-water supplies in various Georgia counties
that the results are contradictory.  He said that he
had been told by a technician for a drinking water
unit that the water  was contaminated, but the
concentrations of the contaminants were not high
enough to be considered a problem. Yet, an African
American woman  in that same community  drew
water from the faucet that bubbled in her glass. Ms.
Minerva responded that MCLs and TMDLs fall under
different EPA OW programs. She and Mr. Wilson
agreed  to  discuss  the issue further  after the
subcommittee meeting.

Ms. Minerva stated the EPA OW would be interested
in helping  communities conduct  a pilot study.
However, she acknowledged  that funding  is  an
issue.   She added  that her office's  incentives
primarily would encourage early response to issues.
Dr. Geiobter asked about financial help through the
NPDES program or state revolving funds.   Ms.
Minerva  responded  that  EPA had  not  given
extensive consideration to the possible use of those
sources.

Mr. Tano noted that there are similarities between
the goals of the guidance and those of national and
international standard-setting organizations, such as
the International Standards Organization (ISO). He
suggested that there should be links between the
programs  of  such  organizations  and  Federal
procurement policies,   through which  a   local
government  can  become  eligible for Federal
procurement if it receives a form of "certification."
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  National Environmental Justice Advisory Council
                                                                         Air and Water Subcommittee
  4.4 Fish Contamination

  Ms. Jaramillo, chair of the subcommittee's Work
  Group on Fish Consumption, presented the following
  questions to be addressed by the work group.

  •   What are the health risks of  consuming non
     commercial fish, that is, the risks of engaging in
     subsistence fishing?

  •   Are fish advisories working?

  •   Are communities responding to fish advisories?
     If not, why?

  •   Is there consistency in the responses of state,
     local, and tribal governments to advisories? If
     not, why?

 •   Is EPA using the process  of the Interagency
     Working Group on Environmental Justice  to
     collaborate with other  Federal agencies - for
     example, the U.S. Department of Health and
     Human  Services  (HHS),  USDA,  the U.S.
     Department of the Interior (DOI), and the U.S.
     Department of Energy (DOE) - in addressing
     issues related to subsistence fishing?

 •  Are  EPA OAR and OW integrating their civil
     rights responsibilities in mitigating the adverse
    effects of consumption of contaminated fish?

 •  What and where are the "teeth" in the CWA that
    can  support  the  effort  to   address  fish
    consumption?

 Ms. Jaramillo presented the work group's plan of
 action,  which  included  requesting of  EPA  a
 presentation on fish consumption focused on effects
 on public health;  soliciting  the perspective  of the
 environmental justice community on subsistence
 fishing;  and developing  recommendations and
 resolutions  for consideration  by  the  Executive
 Council of the NEJAC. The work group also was to
 develop a work plan for the  remainder of 2000 and
 for 2001, she noted.

 To achieve the work group's first goal of obtaining
 information from EPA about fish consumption, Ms.
 Jaramillo  introduced  Mr.  Thomas  Armitage,
 Standards and Applied Science Division, EPA OW,
 to  discuss  EPA's  National Fish  and  Wildlife
 Contamination Program.  Mr. Armitage explained
 that the program provides technical assistance to
 state, Federal, and tribal agencies on matters related
 to health risks associated with exposure to chemical
 contaminants  in  fish  and wildlife.   Activities
 conducted   under  the  program   include the
  preparation of national guidance documents and the
  conduct of outreach; the maintenance of national
  data bases; sponsorship of national conferences and
  workshops; provision of  grants for sampling  and
  analysis; the conduct  of special studies  on  fish
  consumption; and the provision of assistance in
  issuing advisories.

  Mr. Armitage described two examples of national
  guidance documents developed under the program.
  The   Guidance   for  Assessing  Chemical
  Contamination  Data for  Use in Fish Advisories
  consists of four volumes that are updated every two
  years, he said.  The guidance takes a risk-based
  approach, provides advice  on population-specific
  advisories,  and   presents  new   default  fish
  consumption rates, he pointed out.  The Guidance
  for Conducting Fish  and  Wildlife Consumption
  Surveys presents methods of identifying populations
 that consume large amounts of fish and presents
  recommendations for determination  of the need for
 advisories  on  the  basis of  data  on  "high-end
 consumers," he continued.

 Mr. Armitage described three examples  of EPA
 OW's outreach  efforts. In a letter to health-care
 providers targeted through  a national mailing to
 pediatricians, obstetricians and gynecologists, family
 physicians,  and staff  of  state  and tribal  health
 agencies, EPA sought  to increase  awareness of
 contaminants in sport and  subsistence-caught fish.
 EPA also has  produced brochures in  English,
 Spanish, and Vietnamese  on reducing health risks
 from fish consumption, he continued.  The brochures
 are distributed nationally to health care providers and
 state  and tribal  health agencies,  among other
 recipients, he noted. EPA also has designed a tool
 kit for  health-care  providers that is intended to
 increase  awareness   among   nurses,   nurse
 practitioners, and midwives of health issues related
 to fish consumption. The tool kit was featured at a
 meeting of the American College of Nurse-Midwives
 in May 2000.

 Mr. Armitage introduced to the subcommittee a data
 base that provides a national-level list of fish and
 wildlife advisories that is updated annually. The data
 base   is   available   on   the   Internet   at
  and includes all state, tribal,
 and Federal advisories  in the U.S.  and Canada.
 EPA also has developed a national mercury tissue
 data base, said Mr. Armitage.

 Continuing, Mr. Armitage  reported that EPA has
 hosted  several  national conferences  and work
groups on fish consumption. The National Forum on
Contaminants in Fish, sponsored by EPA through
the American Fisheries Society, is an annual
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Air and Water Subcommittee
                                                      National Environmental Justice Advisory Council
meeting conducted to discuss national issues related
to contaminants  in  fish.   The forum includes
participants representing all 50 states and as many
as 35 tribes, he said. In 1997 and 1999, EPA hosted
work groups on the development of advisories for 35
tribal  representatives.   A 2000  work group is
planned,  he added.  EPA also has hosted national
technical conferences on polychlorinated biphenyls
(PCB), mercury, and bioaccumulation, Mr. Armitage
said.

Mr. Armitage  described several special  studies
related to the issue, including a subsistence study
conducted in Cook Inlet, Alaska; a study conducted
along the Columbia  River; a national study of
chemical residues in fish; a comparative dietary risk
project; and an evaluation of the effectiveness and
awareness of advisories, specifically focusing on
mercury.

In terms of grants  for sampling and analysis to
support advisories, EPA has solicited proposals to
support state and tribal  advisory programs.  The
selection  criteria included areas  of   suspected
subsistence activities. Mr. Armitage stated that EPA
had  issued four grants, to California,  Delaware,
Virginia, and Texas.  Three grants are planned for
fiscal year 2000.

Mr. Armitage  requested  that members of  the
subcommittee provide their views on the following
areas: (1) identifying organizations that represent
high-risk  groups and individuals to help conduct a
National   Risk   Communication  Workshop;  (2)
reviewing the National Report on State Consistency
as it is pertinent to fish consumption issues; and (3)
making recommendations about how EPA can work
with states to achieve consistent protection of high-
risk groups.

Ms. Jaramillo commented that, in sampling efforts to
support fish advisories, random sampling generally
is used.  She expressed her concern that random
sampling may miss clusters of affected populations,
including environmental justice communities. She
suggested that EPA consider incorporating targeted
sampling or subsampling into its methodology.

Dr. Bryant commended Mr. Armitage on a very
thorough presentation. He stated that it was obvious
that much research was  being undertaken.  He
asked how EPA evaluates whether communities are
complying with the advisories. Mr. Armitage stated
that the data available was  insufficient to provide an
answer to that question. He referred to a special
study that specifically targeted the issue  noting that
the study should be completed in 2001. The results
of the study will be available to all the states, he said.
He added that the National Risk Communication
Workshop can serve as a means of reaching out to
various affected groups. Dr. Bryant stated that, while
advisories   may   be  successful   in   reaching
communities, affected  groups may not  respond
adequately.  He urged EPA to do the best  research
possible  to  determine  whether   citizens  are
responding;  if  not,  a  new  strategy  must  be
developed, he said. Dr. Bryant also urged  that EPA
focus on the people  and the effectiveness of the
message.

Ms. Yamaguchi stated that, in the Los Angeles area,
her organization had been working closely with the
American  Petroleum   Institute  on  the fish
consumption issue,  primarily  on  contamination
resulting from Superfund activities.  She  reported
that state fish consumption  advisories issued since
1990 have  worked  well in  English-speaking
communities, but not as well in English-as-a-second
language (ESL) communities such as Cambodian,
Vietnamese,  and  Chinese  communities.    Ms.
Yamaguchi noted that reaching out to those specific
communities and communicating with them in their
own   language  had  proven  beneficial.    Ms.
Yamaguchi  stated   that  providing  funding  for
communities to educate themselves also has proven
successful,  since it  is the community itself that
determines the best form of outreach.

Ms.  Ramos  stated that, through discussions with
community members in Oakland, California,  she
received the recommendation that such  universal
languages as signs be used when fish consumption
advisories are posted. She asked that EPA explore
that form of outreach. Ms.  Ramos then stated that
she recently had learned that contaminated fish have
been found  in some areas in Puerto  Rico.  Mr.
Armitage  said that  Puerto Rico  had not been
included  in the studies he had discussed.  Ms.
Jaramillo asked that it be noted that EPA may find it
necessary to consider doing so.

4.5 Urban Air Initiatives

The subcommittee heard presentations and provided
comment on urban air initiatives around the country.

4.5.1  U.S. Environmental Protection Agency
       Diesel Retrofit Program

Mr.  Gregory Green, Director  of the Office of
Transportation and Air Quality, EPA OAR, described
EPA's voluntary  diesel retrofit program,  which is
being implemented to boost the efforts of existing
regulatory air programs. He explained that diesel
engines are high emitters of air pollution, especially
in urban areas. He reported that diesel emissions
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 National Environmental Justice Advisory Council
                       Air and Water Subcommittee
 constitute 49 percent and 24 percent of the nation's
 nitrogen oxide and particulate matter inventories,
 respectively.   Mr. Green  added  that  a  study
 conducted  by  the  South  Coast   Air  Quality
 Management Division in  California  attributes 70
 percent  of  all cancer deaths  in  the area from
 exposure to air toxics of diesel particulate matter
 emissions.

 Mr. Green stated that a voluntary program to retrofit
 diesel engines will provide immediate reductions in
 air pollution. He said that the program will address
 emissions from existing fleets, establish a process
 for  new technology  verification,  and  provide
 incentives to obtain credits for SIPs  under EPA's
 Voluntary Measures Program. He presented several
 examples of retrofitting a  diesel engine, including
 using a catalyst  or filter; conducting an engine
 upgrade; early replacement of the engine; using a
 cleaner  fuel or  additive;   or  implementing  a
 combination of the above-mentioned examples.

 According to Mr. Green, EPA's goal forthis year is to
 retrofit 10,000 diesel engines.   He  clarified that
 success will be measured by obtaining at least
 commitments to   retrofit,  not necessarily  actual
 retrofits.  Mr. Green  stressed that the voluntary
 program will establish strong, positive partnerships
 between EPA, state and local agencies, industry
 (including   engine  manufacturers  and  users),
 environmental organizations,  and the members of
 the public.

 Mr. Green directed the subcommittee to the following
 web  site for  additional  information on  EPA's
 voluntary   measures   program   at
 

 Mr. Whitehead asked about the emissions trading
 component  of the voluntary  measures  program.
 Mr. Green responded that EPA has not yet decided
 on how exactly to implement that component. Mr.
 Smalley  recommended that for short-term results,
 public transportation should be well-maintained so
 that diesel emissions are minimized and Mr. Green
 agreed.

 Dr. Gelobter asked  how much  of  the  diesel
 emissions in New York City result from trucks and
 construction vehicles. He also asked if EPA is taking
 steps to phase out diesel gasoline.   Mr. Green
 reported that about 60 to 65 percent and about 40
 percent of diesel emissions in New York City come
from trucks and construction vehicles, respectively.
 He stated that until a replacement fuel for diesel is
developed or found, it would be difficult to phase out
the fuel. He explained that about 10 million pieces of
equipment in the United  States currently require
 diesel. He reported that EPA is working with a forum
 on diesel fuel to develop a much cleaner fuel.

 4.5.2   U.S. Environmental Protection Agency
        Tier 2 Strategy

 Mr. William Harnett,  Acting  Director, EPA OAR,
 provided an update on EPA's Tier 2 strategy and a
 status report on two issues that the subcommittee
 had requested EPA  investigate at the  December
 1999 meeting, (1) measurement of disparate effects
 and (2) analysis of the locations of all facilities that
 pollute the air.

 Mr. Harnett reported that under the Tier 2 strategy,
 EPA has begun compiling the locations of every
 refinery in the  United States and their emissions
 (including nitrogen and sulfur oxides). He stated that
 a national emissions inventory is being  developed
 and soon will be available.  He said that EPA also is
 developing a brochure for the general public on each
 refinery (about 115)  that will describe the Tier 2
 program and the changes that  will  be made to
 refineries to meet EPA's regulations. Mr. Harnett
 ensured the members of the subcommittee that he
 will solicit their comments on the first drafts of each
 brochure.

 Mr. Harnett stated that EPA also is preparing a
 document that will identify steps that a refinery can
 take to  reduce  its   nitrogen and  sulfur  oxide
 emissions. He acknowledged that while EPA does
 not have the authority to enforce those  steps, the
 Agency can strongly encourage each refinery to
 cooperate. He stated that the likelihood  of a faster
 and smoother permitting process can be an effective
 incentive.

 Ms. Gauna  commented that  to assess disparate
 effects, it would be helpful to examine the proximity
 of  the   refineries  to  environmental  justice
 communities. She asked if it might be possible for
 multiple facilities to collectively increase emissions in
 an  area to harmful levels,  but not enough  of an
 increase  to  prompt a new source review of  the
 individual facilities. Mr. Harnett responded that while
 EPA is compiling  many pieces of information, the
 Agency currently is not conducting a comprehensive
 analysis to make that determination. He stated that
 EPA is examining regions on a county level with a
focus on the southern region and other areas where
 refineries are concentrated.

 Mr. Smalley asked for a clarification on whether the
 public is being involved in  the regulation of  sulfur
dioxide under  the Tier 2  strategy.   Mr. Harnett
 responded that because sulfur currently is  being
 removed   from fuels,  permits  involving   sulfur
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emissions go through the public comment period.
He added that two public comment periods may be
necessary if the permit is reviewed under the Tier 2
strategy and for sulfur dioxide provisions separately.

4.5.3   Environmental  Justice   Concerns  in
       Southern  California Related  to  Air
       Pollution

Ms.   Rachel  Morello-Frosch,   Post-Doctoral
Researcher, School of Public  Health, University of
California at Berkeley, presented information on the
distribution of air toxics and associated cancer risks
among various communities in southern California.
She reviewed traditional approaches that have been
used  in  environmental  justice research  on air
pollution, including (1) evaluating the location of
emission sources relative to environmental justice
communities; (2) assessing emissions loadings from
those sources (for example, by examining data from
the TRI); and  (3) evaluating the  distribution of
ambient  concentrations   of  criteria  pollutants,
including nitrogen  and sulfur oxides;  particulate
matter; ozone; carbon monoxide; and lead.  She
stated that there has been little research conducted
on the 188 air toxics listed under the CAA because
of the lack of consistent monitoring.

Ms. Morello-Frosch discussed new opportunities to
assess  environmental justice concerns  through
examination  of  data  collected  under EPA's
Cumulative Exposure Project (CEP). She said that
the data  can allow modeling of long-term  ambient
concentrations  of  the  148  HAPs,  which  are
estimated for all 2,600 census tracts in southern
California. She added that the data includes mobile
and non-mobile emission sources.  She explained
that  the  CEP focuses  on  southern  California
because that region constitutes some of the  most
challenging air pollution problems  in the  country,
including adverse health effects.

Ms.  Morello-Frosch   reviewed  how cancer  risk
estimates based on inhalation  unit risk for individual
pollutants are calculated.   She reported  that the
estimated lifetime cancer risk in southern California
ranges from 6.9 to 591 per 100,000 people and has
a mean of 59 per 100,000. She added  that nearly
8,000 excess cancer cases are estimated in the
region, with the following five pollutants accounting
for about 80 percent of the excess, polycyclic organic
matter; 1,3-butadiene; formaldehyde; benzene; and
chromium.

Ms. Morello-Frosch then reported that 25 percent
(3.5  million)  of the population resides in census
tracts with the highest risk of cancer. She stated that
68 percent of the  population  are people  of color,
while 32 percent of the population are Anglos. She
added that the probability of a person of color living
in the high risk tract is one in three rather than one in
seven for an Anglo resident.

Ms. Morello-Frosch  stated that race and ethnicity
play a persistent explanatory role in the distribution
of  estimated cancer risks associated with outdoor
HAPs while controlling for economics, land use, and
other factors. She said that the bulk of cancer risks
in the region are attributable to transportation and
small area source  emissions.   She  added that
cancer risks from HAPs overall exceed the CAA goal
of one in a million by at least one to three orders of
magnitude. Ms. Morello-Frosch ended by presenting
several policy implications of the findings. She said
that  emission  source   allocation results   raises
challenges  for  developing  effective emission
reduction strategies.  She stated that area sources
are smaller and  widely dispersed  with  diverse
production  characteristics,  making  uniform
approaches difficult. She reported that proliferation
of  mobile  sources continues to steadily erode the
gains made from emission reduction efforts. She
recommended that future environmental  justice
research approaches emphasize how changing land
use patterns,  suburbanization, and transportation
development  affect  pollution  streams  and  the
distribution of risks among diverse communities and
the poor.

Ms. Gauna noted that formaldehyde was one of the
five chemicals that Ms. Morello-Frosch had identified
as a pollutant of concern.  She asked whether
formaldehyde has a strong synergistic effect with the
other chemicals. Ms. Laura  McKelvey, EPA OAR,
responded that formaldehyde is one of the pollutants
that EPA is examining that may transform into other
harmful products. She stated that the transformation
and synergy among chemicals is an area identified
by  EPA  as  requiring  additional  research  to
understand  the cumulative  effects  of  multiple
pollutants.

4.5.4   Partnership for Clean Air Communities

Mr.T.J. Roskelley, Northeast States for Coordinated
Air Use  Management  (NESCAUM),  presented
information on NESCAUM's Partnerships for Clean
Air Communities project, which is exploring the use
of emissions trading to curb air pollution in urban
communities.  He reported that emissions trading
has  saved  billions of  dollars  in environmental
compliance costs.  However, he stated that major
policy issues must be addressed if emissions trading
is  to remain a viable policy tool.  Specifically, he
explained that (1) EPA must close loopholes by
regulating every polluter; (2) cost-savings must result
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                       Air and Water Subcommittee
 in  environmental  benefits  either through  more
 stringent regulation or through mechanisms that
 redirect the savings into environmental investments;
 and (3) environmental equity concerns  must be
 adequately addressed through policies and initiatives
 that focus on discrete communities instead of the
 aggregate pollution.

 Mr. Roskelley explained that the  Partnerships for
 Clean Air Communities project focuses on the third
 point, which explores whether emissions trading can
 be used to the advantage of urban communities. He
 presented the following key objectives of the project:

 •   Build a diverse coalition to reduce  urban air
    pollution with a focus on participation by  local
    community groups.

 •   Implement discrete clean air strategies to reduce
    local urban air pollution.

 •   Develop  a framework  for using  emissions
    trading to enhance urban air quality.

 •   Develop  long-term, sustainable models  for
    funding clean air initiatives.

 •   Create a  policy model  that  will  be  easily
    transferable to any urban area.

 Mr. Roskelley reported that ConEd will provide the
 initial funding for the project, which will  focus on
 maximizing the environmental health benefits in the
 New York City area.   Upcoming activities for the
 product include public outreach and an initial press
 announcement in May 2000 through mid-summer;
 development of criteria and a process for selecting
 projects by late Summer 2000; and announcement
 of a request for proposal (RFP) and the full launch of
 the program in Fall 2000.

 Mr. Roskelley called upon the subcommittee to help
 in developing criteria for the project. He stated that
 NESCAUM's ultimate goal is to apply the project
 nationally.  He announced a  meeting in New York
 City this summerforthose interested in collaborating
 on the project.

 Dr. Gelobter  stated that he is on the  steering
 committee for the project.  He observed that one of
the problems that environmental justice communities
face is a lack of resources to purchase credits. He
stated  that the RFP process will  involve creating a
two-step  process   to  purchase  credits   and
coordinating with various parties  to secure funding
sources. He stated that he would like the  NEJAC,
particularly the Air  and Water Subcommittee, to
consider how communities of color can purchase
 credits and what kinds  of credits  they could
 purchase.

 4.5.5   U.S. Environmental Protection Agency
        Urban Air Toxics Strategy

 Ms. McKelvey provided an update on EPA's urban
 air toxics strategy and  the national air  toxics
 assessment. She reviewed the purpose of an EPA
 OAR working group on urban air toxics  that has
 been formed to determine how state, local, and tribal
 governments can reduce health risks from urban
 pollution in their jurisdictions. She mentioned that
 Dr. Bryant,  Dr. Ellen Barren, Paso  Del  Norte Air
 Quality Task  Force, and  Dr.  Greenbaum have
 attended and participated in  previous meetings of
 the working group. She stated that the next working
 group meeting will be held June 14 and 15, 2000 in
 Washington, D.C., followed by another meeting in
 August 2000 to finalize the group's plan of action.

 Ms. McKelvey reported that,  as part of EPA's
 National Air Toxics Assessment (NATA)  program,
 additional data will  be collected  on loadings of
 specific pollutants in  local  areas.   Exhibit  3-3
 describes the NATA program. She explained  that
the assessment aims to lay  out a more  effective
 approach to monitoring air toxics, based on results
 of four pilot cities around the country.  She stated

                                     Exhibit 3-3
     U.S. ENVIRONMENTAL PROTECTION
      AGENCY'S NATIONAL AIR TOXICS
           ASSESSMENT PROGRAM

  The National Air Toxics Assessment (NATA)
  program, one of four components identified in the
  U.S. Environmental Protection Agency's (EPA)
  Office of Air and Radiation (OAR) Integrated Urban
  Air Toxics Strategy to reduce air toxics. The NATA
  program will help EPA identify areas of concern,
  characterize risks, and track progress in achieving
  the Agency's overall goals for the air toxics
  programs.  Activities under NATA include
  expanding of air toxics monitoring, improving and
  periodically updating emissions inventories,
  national- and local-scale air quality, multi-media and
  exposure modeling, continued research on health
  effects and exposures to both ambient exposure and
  assessment tools. The activities will provide EPA
  with improved characterizations of risk posed by air
  toxics and risk reductions that result from the
  imposition of emissions control standards and the
  adoption of initiatives for stationary and mobile
  source programs.
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Air and Water Subcommittee
                                                      National Environmental Justice Advisory Council
that the pilot projects are helping EPA to understand
the spatial distributions of air pollution sources in
urban areas. She reported that EPA hopes to have
ambient concentrations collected and available for
public review by late June 2000. She stated that in
addition to ambient air modeling, EPA is expanding
the project by plugging data into an exposure model
and  conducting a  risk  characterization.    Ms.
McKelvey projected that the results of the modeling
and risk characterization will  be available for peer
review in late August, with finaiization of the report
targeted for December 2000.

Ms. Yamaguchi commented that there appears to be
opportunities  for  community-based   monitoring
activities  as  part  of the  national  air  toxics
assessment. She stated that a good incentive to
encourage communities to attend public meetings on
the issue is to promise training on how to conduct air
monitoring.  Dr. Bryant emphasized the importance
of developing a manual on public participation and
research.

     5.0  RESOLUTION AND SIGNIFICANT
                ACTION ITEMS

This section summarizes the resolution forwarded to
the  Executive  Council   of  the   NEJAC   for
consideration  and  the  significant action  items
adopted by the Air and Water Subcommittee.

The members discussed a resolution  in which the
NEJAC  requests  that  EPA  regulate  mercury
emissions from coal-fired power plants.
The members also adopted the following significant
action items:

/ Recommend that the NEJAC establish under
   joint sponsorship of the Air and  Water and
   Waste and Facility Siting subcommittees a work
   group to (1) review and comment by June 30,
   2000, on the Draft Guidance to Reduce Toxic
   Levels issued by EPA OSWER (2) to continue
   dialogue on reductions in levels of toxics.

S Recommend that the Executive Council of the
   NEJAC establish under joint sponsorship of the
   Air and Water and Indigenous subcommittees a
   work group to examine  issues related to fish
   consumption.

S Recommend that the Executive Council of the
   NEJAC organize  an urgent meeting between
   representatives of EPA OAR and EPA Region 2
   to discuss air pollution from power plants in
   Puerto Rico to follow up the  resolution on the
   issue approved at the December 1999 meeting
   of the NEJAC.

S Agree to review EPA OW's National Report on
   State  Consistency,  which addresses issues
   related to fish consumption.
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                      MEETING SUMMARY
                            of the
                 ENFORCEMENT SUBCOMMITTEE
                            of the
     NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                         May 25, 2000
                      ATLANTA, GEORGIA
     Meeting Summary Accepted By:
Shirley Pate
Office of Enforcement and Compliance Assurance
U.S. Environmental Protection Agency
Designated Federal Official
Robert Banks                                Luke Cole
Office of Enforcement and Compliance Assurance Chair
U.S. Environmental Protection Agency
Alternate Designated Federal Official

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                                       CHAPTER FOUR
                                      MEETING OF THE
                               ENFORCEMENT SUBCOMMITTEE
             1.0  INTRODUCTION

 The Enforcement  Subcommittee of  the  National
 Environmental Justice Advisory Council (NEJAC)
 conducted a one-day meeting on Thursday, May 25,
 2000, during a four-day meeting of the NEJAC in
 Atlanta, Georgia.  Mr. Luke Cole, Center on Race,
 Poverty, and the Environment, continues to serve as
 chair of the subcommittee. Ms. Shirley Pate, U.S.
 Environmental Protection  Agency (EPA) Office of
 Enforcement and Compliance Assurance (OECA),
 continues to serve as the Designated Federal Official
 (DFO) for the subcommittee.   Mr. Robert Banks,
 EPA OECA, serves as the alternate  DFO for the
 subcommittee.  Exhibit 4-1  presents a list of the
 members who attended the meeting and identifies
 those members who were unable to attend.

 This chapter, which provides a summary of the
 deliberations of the Enforcement Subcommittee, is
 organized in five sections, including this Introduction.
 Section 2.0, Remarks, summarizes  the opening
 remarks of the chair of the subcommittee and the
 Principal Deputy Assistant Administrator  of  EPA
 OECA.  Section 3.0, Strategic Planning Process of
 the Enforcement Subcommittee, summarizes the
 discussions about  the draft strategic  plan of the
 Enforcement  Subcommittee.    Section  4.0,
 Presentations and Reports, presents an overview of
 each presentation and report, as well as a summary
 of relevant questions asked and comments offered
 by members of the subcommittee.   Section 5.0,
 Resolutions  and  Significant  Action   Items,
 summarizes the  resolutions  forwarded  to  the
 Executive Council of the NEJAC for consideration
 and the significant action items adopted by the
 subcommittee.

               2.0 REMARKS

 This section summarizes the opening remarks of the
 chair of the subcommittee  and of the  Principal
 Deputy Assistant Administrator  of EPA OECA, as
 well as the discussion among the members of the
 subcommittee that those remarks prompted.
                                    Exhibit 4-1
       ENFORCEMENT SUBCOMMITTEE

                  Members
           Who Attended the Meeting
                 May 25,2000

              Mr. Luke Cole, Chair
              Ms. Shirley Pate, DFO
         Mr. Robert Banks, Alternate DFO

               Mr. Delbert Dubois
                Ms. Rita Harris
               Ms. Nan Freeland *
              Ms. Zulene Mayfield
               Ms. Lillian Mood
               Mr. Gerald Torres
               Mr. Robert Varney

                  Members
          Who Were Unable To Attend

       Ms. Savonala (Savi) Home, Vice-Chair
             Ms. Meghan Magmder

    * Ms. Freeland served as a proxy for Ms. Home.
2.1 Remarks of the Chair of the Enforcement
    Subcommittee

Mr. Cole opened the subcommittee meeting by
welcoming the members present and Ms. Pate. Mr.
Cole explained that comments of observers would
be taken throughout the meeting at the discretion of
the chair. At Mr. Cole's request, the members of the
subcommittee then introduced themselves.

2.2 Remarks of the Principal Deputy Assistant
    Administrator  of the U.S. Environmental
    Protection Agency Office of Enforcement
    and Compliance Assurance

Ms. Sylvia  Lowrance,  Principal Deputy Assistant
Administrator,  EPA  OECA,  discussed  EPA's
enforcement and compliance targeting  activities,
noting that EPA  had invested various  efforts in
targeting activities and those efforts have improved
over the  past five years,  helping the Agency to
identify nonreporters and areas in  need of more
regulatory attention.  Ms. Lowrance declared that
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Enforcement Subcommittee
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targeting "is paying off and that OECA had found
numerous  cases of  noncompliance through  its
targeting efforts.

Ms. Lowrance then discussed combined sewer and
sanitary overflows.  She stated that many sewer
systems are poorly maintained and are in need of
improvement.  Mr. Cole agreed, stating that sewer
overflows are a major environmental justice issue,
as well. Ms. Lowrance touched briefly on the major
media programs and stated that air and water are
the focus of many of these programs.

Turning  her attention to  budget matters, Ms.
Lowrance stated that a major  battle  over the
enforcement budget  is expected.  Ms. Lowrance
explained that the U.S. House of Representatives
will consider the budget first,  and then the U.S.
Senate will do so. It is expected that approximately
200  inspectors  and  agents,  as well  as  some
laboratory personnel maybe eliminated under some
congressional proposals.

Turning herattention to state enforcement programs,
Ms. Lowrance described a study by the National
Academy of Public Administration (NAPA) that will
report on state enforcement methods.  Past reports
on the status of state enforcement programs have
shown that the measurement of results should be
examined more closely.  Mr. Cole asked about the
difference between reports prepared by the EPA
Inspector General (IG) and byorganizations, such as
the Environmental Council of States (ECOS) and
NAPA on  state enforcement programs.   Ms.
Lowrance explained  that reports by ECOS and
NAPA are somewhat more qualitative than EPA IG
reports, which are more data oriented.

Mr. Cole pointed out that enforcement of Title VI of
the Civil  Rights Act of 1964 (Title VI) remains an
issue. He asked whether Ms. Lowrance could move
EPA to take more vigorous action in the area of Title
VI.  Ms. Lowrance suggested that the Enforcement
Subcommittee pay close attention to the issues that
Ms. Ann  Goode, Director of EPA's Office of Civil
Rights (OCR), was to discuss later in the meeting
and examine the cases Ms. Goode was to present.
Ms. Lowrance suggested that the subcommittee
judge EPA according to the Agency's actions over
the next 6 to12 months and noted that Ms. Goode
likely  would discuss the challenges facing EPA's
OCR.

Mr. Cole  then turned his attention to EPA's Tier 2
Clean Fuels Initiative. Exhibit 4-2 describes the Tier
2 Clean  Fuels Initiative.  He  explained that the
subcommittee had  drafted  a  letter to the  EPA
Administrator that will discuss  an example of the
implementation  of  a  clean  fuels  program  in
California.  The letter will discuss good neighbor
agreements  that  cover  reductions  in  fugitive
emissions from refineries, he continued.  Mr. Cole
stated that the California program should be used by
EPA as a national model.

                                    Exhibit 4-2
       TIER 2 CLEAN FUELS INITIATIVE

  In December 1999, the U.S. Environmental
  Protection Agency (EPA) announced new general
  emission standards (Tier 2 standards) for passenger
  cars, light trucks, and larger passenger vehicles. The
  program is designed to focus on reducing the
  emissions most responsible for the ozone and
  paniculate matter effect from those vehicles. The
  program also will, for the first time, apply the same
  set of Federal standards to all passenger cars, light
  trucks, and medium-duty passenger vehicles.

  The other part of the Tier 2 Clean Fuels Initiative will
  reduce average gasoline sulfur emission levels
  nationwide.  Refiners will install advanced refining
  equipment to remove sulfur during the production of
  gasoline. Importers of gasoline will be required to
  import and market only gasoline meeting the sulfur
  limits.
Ms. Rita Harris, Community Living in Peace, Inc.,
then asked Ms. Lowrance for an update on EPA's air
program in  light of the  many new air quality
requirements, which  Ms. Harris noted, will cause
many facilities to be in noncompliance. Ms. Harris
asked Ms. Lowrance to make  the  air program
requirements available  on  EPA's  Internet  home
page. Ms. Lowrance stated that enforcement of air
requirements is difficult at both the state and Federal
level, explaining that capital technology changes for
facilities must be studied to detect this compliance.
She then stated that EPA's air program information
and various enforcement alerts  are  available on
EPA's OECA Internet home page.  She explained
further that  press releases and  new cases  are
uploaded to OECA's Internet home page within afew
weeks of their initiation, but she noted that funding
problems  do hinder the  prompt placement  of
information on the web site.

Ms. Lillian Mood, South Carolina  Department of
Health  and  Environmental  Control,  referred  to
enforcement cases that had  been brought up during
public comment periods of the NEJAC and stated
that the NEJAC was working to bring attention to the
enforcement  process.   She then  asked Ms.
Lowrance how EPA responds to enforcement issues
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  National Environmental Justice Advisory Council
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 that are discussed during meetings of the NEJAC.
 Ms. Lowrance  stated that the  majority of  EPA's
 various regions have deputy regional administrators
 or environmental justice coordinators present at the
 NEJAC meeting to document the issues discussed.
 Those issues, Ms. Lowrance explained, are studied
 and discussed at the regional level and at the state
 level, as well. The states then discuss progress on
 the issues with the communities concerned.  To
 ensure that  progress  is  made,  continued  Ms.
 Lowrance, state and EPA regional representatives
 must perform oversight of facilities that are involved
 in enforcement issues.   Ms. Lowrance stated her
 belief that fines and penalties enhance the impact of
 enforcement cases; however, she also added, there
 is frustration with inaction and a lack of resources for
 some cases.  Ms. Mood then stated that, in some
 cases, there are questions of authority.  In response,
 Ms. Lowrance admitted that interagency work is "not
 consistent with success" because the concerns of
 agencies differ for various sites. She explained that
 some successes have been achieved because a
 number of agencies have met with community
 groups to initiate action.  Mr. Cole then stated that
 interagency work is an issue, but that EPA should
 follow up more assertively on enforcement issues at
 the local level. Ms. Harris then asked whether follow
 up investigations become criminal investigations and
 whether there is a telephone number that members
 of communities  can call  to offer tips  and register
 complaints. The members of the subcommittee, she
 explained to Ms. Lowrance, need such a telephone
 number. Ms. Lowrance responded that although a
 telephone  number  would  be  useful  to  the
 development of  criminal  investigations, EPA does
 not have resources to initiate one.

 The   discussion  then   turned  to   compliance
 assistance  issues.   Mr.  Robert  Varney,  New
 Hampshire Department of Environmental Services,
 stated  that enforcement at the state level had
 undergone a 'Very positive elevation."  Two key
 strategies  involved are  pollution prevention and
 compliance assistance, he said.  Mr. Varney then
 asked Ms.  Lowrance for an update  on compliance
 assistance.    Ms.  Lowrance explained  that  10
 compliance assistance  centers  currently are in
 operation, providing assistance to small businesses
 and industry  groups.   Exhibit 4-3 describes
 compliance assistance centers. EPA currently was
 working on a two-year plan  to provide  compliance
 assistance  and  was   establishing   a   national
 clearinghouse  that can  coordinate   compliance
 material for states, schools,  and Federal agencies.
 More and  more often,  she continued,  targeted
 compliance  assistance  is  not  effective without
 enforcement.  Ms.  Lowrance then noted as an
 example that metal finishers have had  compliance
  assistance provided to them over a five year period;
  yet, she noted, compliance in that industry had not
  improved.  Therefore, she continued, EPA was to
  begin  targeting  enforcement  actions  to metal
  finishers.   Ms. Lowrance explained further  that
  Federal  measures   of   compliance  assistance
  currently were under review.   Mr.  Varney then
  suggested   that  targeted  enforcement   and
  compliance assistance be performed in tandem. Ms.
  Lowrance suggested  that a targeted strategy for
  compliance assistance  be outlined  by industrial
  sector.  Finally, Ms. Mood noted that both state and
  EPA  efforts   in  compliance assistance  require
  improvement in terms of community involvement.


                                      Exhibit 4-3
      COMPLIANCE ASSISTANCE CENTERS

   The U.S. Environmental Protection Agency (EPA)
   created the Compliance Assistance Centers to
   provide comprehensive easy-to-understand
   compliance information targeted specifically to
   industry sectors. Compliance Assistance Centers
   seek to promote partnerships between the small
   business community and their technical and
   regulatory providers.  Through plain-English guides,
   consolidated checklists, and other tools, Compliance
   Assistance Centers seek to minimize waste
   production and maximize environmental
   performance.  There are Compliance Assistance
   Centers for the following sectors, automotive; metal
   finishing; agricultural; printed wiring board
   manufacturers; printing; transportation; painters and
   coatings; and chemical manufacturers.
 3.0  STRATEGIC PLANNING PROCESS OF THE
       ENFORCEMENT SUBCOMMITTEE

 In August 1999, the Enforcement Subcommittee of
 the NEJAC developed a strategic plan to make the
 subcommittee's work more focused and to create
 tools to evaluate the effectiveness of the NEJAC's
 advice to EPA. The goal of the strategic plan is to
 enable  the  subcommittee to   ensure  that
 environmental  justice   principles   become
 institutionalized in all enforcement activities of EPA.
 The subcommittee currently is gathering data on,
 analyzing,  and  providing  recommendations  for
 improving EPA's activities in the four areas outlined
 below:

 •   Target EPA enforcement resources on the areas
    in which the levels of pollution are the highest.

•   Focus on other enforcement options, including
    state and tribal enforcement and citizen suits, to
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Enforcement Subcommittee
     National Environmental Justice Advisory Council
    ensure that they include consideration of the
    principles  of  environmental justice  and to
    increase the  level of resources devoted to
    enforcement of environmental laws.

•   Ensure that the principles  of  environmental
    justice  are   made   integral  to  all  EPA's
    compliance alternatives, including  economic
    incentive  programs   (EIP);   performance
    partnership  agreements;  and  pollution
    prevention initiatives, such as the XL program
    and the Common Sense Initiative.

•   Continue to insist that EPA have a real, credible
    civil rights enforcement policy and  presence,
    including  confrontation of  the  Agency  with
    evidence of gaps and flaws in its implementation
    of Title VI  and recommendation of ways to
    strengthen EPA processes.

Before discussing the strategic  plan in detail, Mr.
Cole  led  a   discussion  about  whether  the
subcommittee should make a change from providing
resolution-based advice to providing report-based
advice to  the EPA  Administrator through the
Executive Council. Mr. Cole suggested that a report
format be used for issues that deal heavily with
policy.   Mr. Varney  indicated  that the Federal
Advisory Committee Act (FACA)  committee that he
had chaired did-not operate with resolutions, but
instead wrote letters to EPA and  had paragraphs to
summarize concerns and recommendations; EPA
then would send a response letter mirroring the letter
that summarized the Agency's responses to each
concern and recommendation.  He suggested that
there sometimes is a formality and aggressiveness
associated with  resolutions that  make  them
inappropriate  when the primary purpose  of the
document is to advise the EPA Administrator. Mr.
Cole noted that there are three types of solutions:
political (for which the subcommittee expects action,
ratherthan response), communitysupport (for which
there should be a focus on resources), and policy
(for which  in-depth discussions would  be most
helpful). The members of the subcommittee should
consider the use of letters or resolutions and let
other members know their opinions, he suggested.

The members of the subcommittee then discussed
the progress  of the  subcommittee  related to
addressing the first section of the Strategic Plan
related to targeting EPA enforcement actions.  The
first section of the Strategic Plan is divided into six
subsections: Communities of Color and Low-income
Communities;  Enforcement  by EPA's  Regional
Offices;  Federal   Facilities;  Supplemental
Environmental  Projects  (SEP)  and Community
Benefit; Concentrated Animal Feeding Operations
(CAFO); and Bad Actors.

Communities of Color and Low-Income Communities

Ms.  Mood and  Ms.  Zulene Mayfield,  Chester
Residents Concerned  for Quality Living,  were to
work on incorporating community views  into the
determination  of  enforcement  priorities.    Ms.
Mayfield suggested that enforcement fines assessed
in minority and nonminority areas be compared,
since, she noted, there often is disparity between the
two.  Mr. Cole and Ms. Mayfield were to draft a letter
to the Agency to request an updated analysis to
ensure  that fines are fair in both minority  and
nonminority areas.

Enforcement by EPA's Regional Offices

Mr. Cole indicated that he had been working with Ms.
Pate to schedule a conference call with regional EPA
offices to discuss the creation of an "enforcement
report card" to focus on outstanding performance
and enforcement underachievement by the regions.
Mr. Cole and Ms. Pate were to prepare a revised
report card on regional enforcement and present it to
the EPA Administrator and the 10 EPA  regional
administrators.

Federal Facilities

Mr. Cole directed his attention to the section of the
Strategic Plan on Federal facilities.  He indicated that
a work group of the NEJAC was being established to
analyze and take action on environmental justice
issues related to Federal facilities.  Mr. Cole asked
whether any members of the subcommittee would
serve on the proposed work group. Ms. Harris then
volunteered to join the Federal facilities work group
of the NEJAC.

Supplemental Environmental Projects (SEP)  and
Community Benefit

Mr. Cole indicated that the subject of SEPs  was
open for public comment.  He then asked Ms. Pate
to make the Federal  Register citation on  SEPs
available to Mr. Gerald Torres, University of Texas
School of Law, Ms. Mayfield, and himself. Mr. David
Nielsen, Director of the Resource Conservation and
Recovery Act (RCRA) Enforcement Division, Office
of Regulatory Enforcement (ORE),  EPA OECA, was
asked  to  make  publications on  SEPs available
directly to the members of the subcommittee, while
Mr. Varney was asked to provide examples of SEPs
to the subcommittee.
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                        Enforcement Subcommittee
 Concentrated Animal Feeding Operations

 Ms. Harris suggested that the subcommittee submit
 a  report on  CAFOs, rather  than a  resolution,
 because, she said, the topic requires a much more
 detailed discussion.  Mr. Cole also proposed that a
 larger report  be  prepared.   The subcommittee
 discussed the forwarding of a proposed resolution on
 CAFOs to the Executive Council of the NEJAC and
 the subsequent submittal of  a  larger report on
 CAFOs  at  a  later date.   Members of  the
 subcommittee had agreed to forward a proposed
 resolution on CAFOs to the Executive Council for
 consideration.

 Bad Actors

 This subsection of  the plan  discusses  a  small
 percentage of permit holders that are responsible for
 a  large  percentage  of  permit violations and
 enforcement actions.  Ms.  Mayfield and  Ms.  Harris
 were asked to work on that section. Ms. Harris was
 to investigate whether states observe those facilities.
 Ms. Mayfield was  to prepare  a  list of  potentially
 responsible parties, targeting the lop ten" bad actors
 or the "dirty dozen."  Mr. Cole  asked about EPA's
 policy on dealing with bad actors.  Ms. Pate agreed
 to  determine  whether there is  a  list  of model
 regulations for bad actors. Mr. Varney will assist Ms.
 Harris and Ms. Mayfield in gathering information
 about bad actors from state agencies.

     4.0  PRESENTATIONS AND REPORTS

 This section summarizes the presentations made to
 the Enforcement Subcommittee on issues related to
 enforcement and compliance assurance. Mr. Cole
 introduced the theme of the meeting as:   What
 health data should  EPA use to  target enforcement
 resources at the most vulnerable communities, and
 how  should  resources  be gathered to  support
 effective efforts? A panel discussion on  the health
 theme was presented.  Other presentations  were
 made on CAFOs and the status of EPA's activities
 related to Title VI.

 4.1  Health Theme Discussion: What Health Data
    and  Indicators   Should  the   U.S.
    Environmental Protection Agency be Using
    to Target  its  Enforcement  Efforts  and
    Resources?

 Ms. Mood moderated a panel of four speakers who
 discussed health data and indicators as they are
 related to enforcement and environmental justice.
The presentations  made  on the theme of the
 meeting are summarized below.
 4.1.1   Presentation on the U.S. Environmental
        Protection Agency's Enforcement and
        Compliance Targeting Activities

 Ms.  Betsy  Smidinger,  Chief,  Targeting  and
 Evaluation Branch (TEB), Office of Compliance, EPA
 OECA, provided an overview of EPA's compliance
 screening and targeting activities.  In a handout to
 the members of the subcommittee, Ms. Smidinger
 described the TEB.  She explained that the TEB
 develops analytic projects and targeting tools that
 are provided to  enforcement and  compliance
 personnel of EPA. She stated further that TEB is
 customizing the tools for use by state governments.

 Ms. Smidingerthen spoke about risk-based activities
 and the use of  subjective risk assessments  in
 compliance screening activities. She explained that
 most risk-based activities use historical approaches
 and observe various factors, such as: the economic
 size of companies and facilities, a facility's greatest
 perceived risk, and the rate of noncompliance. Ms.
 Smindinger also described EPA's current screening
 activities, that include screening,  planning,  and
 strategy.   She  then  identified three steps  in
 screening activities: (1) identify problems that pose
 the highest risk, (2) determine national enforcement
 priorities, and (3) develop a strategy for each area
 that identifies what activities will be done to address
 the problem. Ms. Smidinger indicated that additional
 information from  regions; state, local, and tribal
 governments; environmental  organizations;  and
 industry groups that are not available through EPA's
 data systems are helpful in this process.

 Ms. Smindinger indicated that most of the targeting
 reports  developed by  TEB use  data from the
 Integrated Data for Enforcement Analysis  (IDEA)
 system.  That system, she noted,  brings together
 enforcement  and compliance data  from  various
 agencies and external data bases to provide broad
 analytic capabilities.  Data  in the  system  include
 information from the water, air, and hazardous waste
 programs, the Toxic Release Inventory (TRI), and
 the Emergency Response Notification System, as
 well as economic and demographic data from the
 U.S. Census Bureau, she explained.

 Ms. Smindinger also spoke about strategic targeting.
 She explained  that strategic  targeting  projects
 examine large data sets to determine which industry
 sectors and high risk geographic areas should be the
focus  of the compliance and  the  enforcement
 program. Information about pollutants and chemical
 releases, inspection and compliance history, TRI risk
data, and demographic information are analyzed to
determine which industries or geographic areas
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should be the focus of additional inspection  or
enforcement coverage, she said.

Ms. Smindinger also briefly mentioned other EPA
screening tools,  such as  the  On-line  Targeting
System (OTIS), which maps facilities according to
compliance  factors,  and  the  Risk  Screening
Environmental Indicators Model, which relies on TRI
data.   She  described geographic analysis  as a
screening tool that identifies counties in the United
States in which environmental conditions are poor
and appear to receive less enforcement attention
than  other  counties.    However,   noted  Ms.
Smindinger, that screening tool was not found to be
successful.  Responding to Mr. Cole's inquiry about
why geographic  analysis  is not  a  successful
screening tool, Ms. Smindinger explained that she
did not know all the details about the reason, but that
one factor is that internal EPA data bases do not
have   all  the  information  needed  to  support
geographic analysis, such as a list of  nonnotifiers
and facilities that are not in compliance.

4.1.2   Presentation on Indicator Technology:
       Utility  for  Identifying  High   Risk
       Communities

Mr. Tim Aldrich, Chief of the Chronic Disease
Epidemiology Division, South Carolina  Department
of Health and Environmental Control, first defined an
indicator,  which  can  be  community-based   or
environmental, as an indirect measure that reveals
a change in a community practice or in risk behavior.

Mr. Aldrich  explained how  exposures that are
hazardous to human health are monitored through
the use of indicators.  As an example of indicator
logic, he explained how the human health effects of
the toxin pfiesteria can be measured.  There is no
monitoring agent available to  actually measure
pfiesteria, he continued.  Therefore, fish kills are
monitored instead to determine the human health
effects of the toxin. While it may not be possible to
monitorthe actual contaminant, said Mr. Aldrich, the
results of the monitoring of fish kills can provide an
indication of human health exposures to the toxin.

Mr. Aldrich next described four factors that influence
the use of indicators in environmental health:  (1)
selective  forces,  (2)  spatial  and  temporal
consistency,  (3)  clarification  of issues, and  (4)
nuisance indices. A selective force, he explained,
may be representative of class, level of wealth,  or
accessibility. An example of a selective force is a
trip to the emergency room or the use of home care.
He next  identified  an  example  of  spatial  and
temporal consistency, levels of ozone emissions that
differ  from  one another in different  geographic
regions.    Clarification  of  issues,  Mr.  Aldrich
explained, deals with susceptibility.  An example
would be the monitoring of rates of absenteeism at
schools and workplaces to help determine groups at
risk. Nuisance indices, he then explained, may not
be a health effect; odor, he added, is an example of
a nuisance index.

Mr. Aldrich  then identified  several examples  of
indicators and then described several indicators in
the  context  of  cancer.   He  noted  that,  with
community participation, various indicators can be
evaluated and occurrences of hazards monitored
more closely. He said incidence and mortality ratios
can measure which communities are most heavily
affected  by  environmental  health issues.    He
explained that those indicators are available through
state cancer registries.  Next, Mr. Aldrich discussed
screening activities.  If there are low incidence and
mortality ratios, there are lower occurrences  with
lower screening rates.  Last, he described sentinel
events.   Mr.  Aldrich said sensors are used as a
system to help identify where events are occurring,
he said; when cases begin to occur, connections can
be made for where and when events are occurring
by watching for outcomes of the sensor use.

Mr. Aldrich then turned his attention to sources of
indicator data.  Two sources, he explained, are
disease registries and  demographic data  bases
supported by the U.S. Census Bureau.  Another
source of indicator data is the Behavioral Risk Factor
Surveillance System, which is available in all states.
The system, he said, rates the health and limitations
of  communities  and  monitors  complaints  and
dissatisfactions.   The final source, Mr.  Aldrich
identified, was sentinel event processes, which can
relate good biological information  and in turn help
enforcement begin earlier.

Turning his attention to interpreting indicators and
criteria for choosing indicators, Mr. Aldrich explained
that interpreting indicators can involve quantitative
and  qualitative analyses.   Another  method  of
interpretation is  the use of directed surveys  in
schools,  homes, and churches.  Referring to the
criteria  for  indicators,  Mr.  Aldrich  stated  that
indicators can be nonspecific, such as environmental
data, or  spatially localized,  such  as community-
based data.  Indicators can be chosen on the basis
of the  system designed for data collection  and
should take into account specificity and sensitivity,
Mr. Aldrich said in conclusion.
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 National Environmental Justice Advisory Council
                        Enforcement Subcommittee
 4.1.3   Presentation   on   Environmental
        Enforcement and Public Health

 Dr.  Maureen  Lichtveld, Associate  Director  of
 Workforce  Development, Public Health Practice,
 Centers for Disease Control and Prevention (CDCP),
 provided  an overview of the relationship between
 environmental enforcement and public health.

 Dr. Lichtveld first spoke about exposure pathways,
 explaining   that  hazardous   substances  are
 transferred  from  operations  through  various
 pathways, such as biota, air, soil, and water,  to
 receptors, such as people and animals.  Next, she
 discussed the model for establishing a relationship
 between  exposure  to hazardous substances and
 adverse  health  effects.    The   model  tracks
 environmental contamination from biologic uptake
 through contact with the target organ, biological
 change; and, finally, disease.

 Next, Dr.  Lichtveld described the hierarchy of data
 for exposure assessment.    She  indicated that
 individual  assessments and measurements are most
 accurate.  Other exposure surrogates are ambient
 measurements, such as indoor air. The remaining
 portions of the hierarchy include measuring distance
 and duration, residence or employment proximity,
 and residence or employment in geographic areas of
 concern.  Dr. Lichtveld then turned her attention  to
 biological  testing.   She  explained that biological
 testing can measure various effects of the interaction
 of a toxicant with the human body, including:  a
 toxicant (directly), a metabolite  of a toxicant, an
 effect of  an interaction,  absorption of a toxicant
 (indirectly), and effects on a target organ.

 Dr. Lichtveld then discussed the  role of science  in
 addressing  environmental health concerns.  She
 stated that solving public health problems involves
 evaluating scientific and  technical knowledge and
 public concerns.  Dr. Lichtveld then listed the key
 issues that influence the delivery of environmental
 health service to persons at risk and communities:

 •  Application  of population-based epidemiologic
   findings  in  community-oriented intervention
   strategies.

 •  Toxicological concordance of effects and effect
   levels  among species.

 •  Availability of biological markers of exposure,
   effect, and susceptibility.

•  Development  of standardized methods and
   techniques  for  quantitatively  assessing
     increased  knowledge  gain  and  behavioral
     change.

 •   Use of clinical practice to identify and address
     community health issues.

 •   Use  of quantitative  outcome information to
     increase  the effectiveness  of  public  health
     interventions.

 Dr.  Lichtveld  then  discussed  community-driven
 approaches in environmental health by describing
 four project  components  that  are  crucial  to
 environmental health interventions: (1) community
 health needs assessments, (2) environmental health
 education, (3) clinical evaluations, and  (4) clinical
 speciality referrals.

 Dr. Lichtveld stressed the importance of the role of
 public values and popular  opinions  as they are
 related to public  health.  She noted that societal
 factors are crucial  in  implementing  community
 interventions as is taking a  holistic rather than an
 individual  approach.   She  also  presented an
 integrated framework for environmental health that
 focuses on health promotion, health education, risk
 communication, and medical intervention.

 Finally, in  the area of  future  possibilities and
 opportunities, Dr. Lichtveld stated that government
 agency actions should be based on early systematic
 planning  by bringing together community health
 concerns,  environmental health interventions, and
 enforcement strategies.

 Ms.  Mayfield asked for a list of universal indicators
 for health.  Dr. Lichtveld mentioned that the U.S.
 Department of Health and Human Services (HHS)
 identified  ten  leading health  indicators  including
 environmental quality, obesity, mental health, and
 access to  health care.   These indicators  are
 associated with a comprehensive list of  objectives
 and  are published in the "Healthy  People 2010
 Initiative," she said.

 Ms.  Mood asked whether  communities  could
 complete health and environmental assessments for
themselves.    Ms.  Mayfield  indicated   that  the
community of Chester, Pennsylvania, had already
 done so.  The effort, she continued, included the
collection  of TRI data, data from the U.S. Census
 Bureau,  data on low  birth  weight, and  other
information.  Mr.  Cole said  that the Enforcement
Subcommittee was to recommend feasible ways to
target  enforcement indicators, such as  low-birth
weight and infant mortality rates.  Mr. Cole asked
whether there are data available to make "targeting"
possible and whether "targeting" is a good idea.  Dr.
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Lichtveld responded that, while some communities
have a wide variety of data, existing data often are
not sufficient in most cases nationwide. Dr. Lichtveld
noted that all entities, including EPA, public health
agencies, and  communities, must come to an
agreement about "targeting" and if communities are
to be treated fairly, agencies must consider all data.
Finally, Dr. Lichtveld stated that public health should
precede  enforcement  because  decisions about
"targeting" will otherwise not benefit  from crucial
public health data and information.

4.1.4   Presentation on the Richmond County
       Health  Department  Health Intervention
       Project

Ms. Juanita Bumey, Coordinator of the Richmond
County,  Georgia  Health Department,  presented
information about  the  Richmond County Health
Department Health Intervention Project. The project
addressed health concerns of former and current
residents of a community in Richmond County who
were exposed to many toxic substances, she said.
She explained  that  some of the citizens were
believed to have become ill because of exposure to
the toxic substances.  Those sicknesses might have
been  prevented  if  cause  and  effect between
exposure and the sicknesses  had been established,
she said.

Ms. Bumey identified the participants in the project
as residents living in a 1.4 mile radius of exposure to
contaminants who participated over a specific period
of time.  The residents' drinking water was being
affected and was tested; the tests revealed that the
drinking water was contaminated, she said.  Ms.
Burney then explained  that  all other media were
tested,  as well.   She said  the  citizens were
concerned  about who  would help  them with the
contamination,  since many  industrial companies
failed to admit blame or take action. Because of the
contamination, she explained that residents of the
community drink city water instead of well water.

Ms. Burney indicated that a number of people were
involved  in the project development and oversight:
a director, a coordinator, a lead nurse, a panel of
citizens  (The Citizens Alliance for  Community
Health), a medical advisory committee, and staff of
the Agency of Toxic  Substances and  Disease
Registry (ATSDR). Other project staff included data
assistants,  doctors,   nurse  practitioners,  and
specialists, she added.

Ms. Burney then turned her attention to a discussion
of the components of the project.  The components
included  Census data, an enrollment questionnaire,
community health education, medical examinations,
follow-up medical visits, and medical referrals.

Ms. Burney then discussed community concerns that
were  brought to light as a  result  of  the  health
intervention project.  With respect to health issues,
the community was concerned most deeply about
cancer, dermatological problems, and mental health
issues,  she  said.   The  community also was
concerned about property issues related to damage,
decreased values, insurance coverage, inability to
sell  property,  limits  on  outside  activity, and
relocation.

Ms. Burney made the following suggestions that she
believed could improve upon future public health and
environmental studies: (1) adequate environmental
and health education provided to both citizens and
medical  professionals;  (2)  use of a laymen's
approach instead of a technical approach; (3) obtain
information that is specific to the industries involved;
and (4) ensure that citizens in affected communities
know their rights.

Finally,  Ms. Burney  explained  the positive and
negative factors of  the project  according to the
perspective of the community.  Members  of the
community had a positive opinion about the no-cost
physical examinations, the concern shown for the
community, and the project's knowledgeable staff.
Members of the community  also expressed their
concerns  and  suggestions  for  improving  such
projects. The inability of the project staff to have
physicians to assist with relocation; the need of
citizens  for more mental  health assistance; the
limited duration of the projects; and the communities
need to demonstrate interest, care, and compassion
were  among  the  concerns  expressed  by the
members of the community, reported Ms. Burney.

4.2 Presentation  on  Concentrated  Animal
    Feeding Operations

This section summarizes presentations on CAFOs
provided to the Enforcement Subcommittee by Mr.
Gary Grant, Executive Director, Concerned Citizens
of Tillery, and Dr. Steve Wing, Associate Professor,
Department of Epidemiology, University of North
Carolina.

After noting EPA's lack of support thus far on the
issue of CAFOs, Mr. Grant stated his belief that EPA
is "behind" in enforcement related to CAFOs.  He
then stated his  desire  to see  the enforcement
process  move faster  with  respect  to  CAFOs,
especially because of  issues   related  to  health
problems and decreased land values.  Mr. Grant
then introduced Dr. Wing.
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 National Environmental Justice Advisory Council
                        Enforcement Subcommittee
 Dr. Wing first provided an overview of hog farming.
 He stated that the numerous confining houses in
 existence contain thousands of hogs. Wastes from
 confinement facilities are thrown into waste pits and
 then deposited into spray fields, he said.  Dr. Wing
 noted that the state of North Carolina has required
 liners in waste pits since 1992, and,  in some cases
 plastic or synthetic  liners  are  used.   Dr. Wing
 explained that the waste  sometimes  undergoes
 anaerobic decomposition.  Occasionally,  however,
 he continued, the  pits  fill  up,  and  the  waste is
 pumped onto sprayfields and used as a fertilizer for
 crops. That practice, he declared, could lead to
 saturation of farm lands with wastes.

 Next, Dr. Wing explained why the operations of the
 hog  industry in North Carolina  is an example of
 environmental injustice.   He  stated  that  the
 concentration of hog production in  the state has
 affected primarily poor, nonwhite, rural communities
 because the production operations cause excessive
 pollution  and  offensive  odors.   The majority  of
 CAFOs   currently  are  concentrated   in  North
 Carolina's coastal plain region. Their location further
 concentrates the waste and increases the potential
 for damage because the region is subject to flooding,
 continued Dr. Wing.  The waste from CAFOs can
 contaminate   groundwater  with   nitrates and
 pathogens, he said. Odorants also are an issue, he
 explained, because  airborne emissions contain
 volatile organic compounds (VOC), ammonia, and
 hydrogen sulfide; these odorants can cause health
 issues, not only  for CAFO workers, but also  for
 residents in the vicinity of such operations. The
 presence of CAFOs  can lower land values and
 decrease the quality of life and can affect the health
 of residents and workers who already suffer from
 poor  nutrition,  low wages, and  lack of access to
 sufficient medical care, continued Dr. Wing.

 Dr. Wing explained that the organization, Concerned
 Citizens of Tillery in Tillery, North Carolina, wanted
 public health issues associated with the hog industry
 documented.  To investigate those health issues,
 households were surveyed door-to-door to identify
 symptoms and  reduced quality of life characteristics
 common  to  households  allegedly  affected  by
 CAFOs. The households, Dr. Wing explained, were
 located in three rural communities: one in the vicinity
 of  a  6,000-head hog operation, one  near two
 intensive cattle operations, and a third in an area in
 which no livestock  operations .are located.  The
 response rate was very high, continued Dr.  Wing,
 and 155 interviews were completed. The majority of
 respondents  were female  African-Americans,  he
 said.  Dr. Wing noted that adjustments were made in
 the study to  account for differences in age and
 gender;   employment   status;   and   whether
 respondents were smokers.  In addition, the study
 detailed only acute effects, it did  not account for
 chronic disease, he pointed out.

 Dr. Wing then described the symptoms that were
 observed  in   the  three   communities.     The
 occurrences of many symptoms were higher in the
 community in the vicinity of the hog operations than
 in other communities, while some occurrences were
 higher for the community near the cattle operations
 than in the community in the area having no livestock
 operations.  Symptoms reported are listed in Exhibit
 4-4. Dr. Wing explained that the symptoms were
 divided into six groups: upper respiratory and sinus,
 lower respiratory,  gastrointestinal, skin and  eye
 irritation,  and quality of life.  The percentage  of
 respondents who  reported upper  respiratory and
sinus episodes was the largest in the community
 near the hog operation, while the community near
the cattle operation showed more  intermediate
results.  The number of respondents who reported
lower respiratory, gastrointestinal, and skin and eye
irritation  symptoms  was   generally  smaller.
Incidences of gastrointestinal symptoms was the

                                     Exhibit 4-4
   REPORTED SYMPTOMS IN COMMUNITIES
      LOCATED NEAR CATTLE AND HOG
                OPERATIONS

 The following describes reported symptoms in
 communities located near cattle and hog operations:
 Stuffy
 nose/sinuses
 Runny nose
 Burning nose

 Sore throat
 Mucus/phlegm
 Excessive
 coughing
 Shortness of
 breath
 Skin/eye irritation

 Gastrointestinal
 (heartburn, lack of
 appetite, nausea or
 vomiting, diarrhea)

 Quality of life
 (cannot open
 windows or go
 outside)
Significantly higher for the
community near the hog
operation.
Higher for the community near
the hog operation.

More episodes for the
community near the hog
operation, less significant for the
community located near the
cattle operation.
All symptoms were significantly
higher for the community near
the hog operation.
The community near the hog
operation reported more than 12
times the number of episodes
reported by the other two
communities.

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                                                      National Environmental Justice Advisory Council
highest among the residents of the community near
the hog operation. However, Dr. Wing indicated that
the largest differences among the three communities
occurred in the reported occurrences of a decrease
in the quality of life symptoms, which included not
being able to open windows or go outside. More
than 50 percent of the residents of the community
near the hog operation reported that they could not
open windows or go outside, compared with the 20
percent of residents in the other two communities.

Dr. Wing next discussed several enforcement issues
associated with CAFOs.  He indicated that in 1995,
there had been tremendous concern about spraying
and the potential that  waste would seep into the
ground and affect the groundwater.  Spray fields are
not lined and are sometimes built  in areas where
there are drained wetlands and  that livestock
operations have been built in areas in which floods
often occur, he  said.   Dr. Wing  noted that the
operations are not designed to contain waste; rather
the operations often dump waste  onto the spray
fields.  Cesspools must be emptied so they will not
be affected by flooding, he noted. Dr. Wing stated
that,  during  winter months,  discharges  to  the
environment often occur.  Wastes are dumped into
fields and spread in trenches. Eventually, he said,
they reach local water supplies. Dr. Wing also noted
that enforcement may be lacking because (1) most
agricultural   businesses  see  themselves   as
nondischargers  and   (2)  the  North  Carolina
Department  of Natural  Resources  is supported in
part  by lawyers who represent the North Carolina
Pork Council.

Dr. Wing then discussed the distribution of farms
and  ethnic populations.  He noted that there  is a
large concentration of CAFOs  in eastern North
Carolina, where the highest percentage of African-
Americans  live.  There are almost no livestock
operations in white areas, continued Dr. Wing.  He
stated that CAFOs are located in poor areas having
high percentages of minority populations that do not
have ample political  representation.   He also
explained that areas in which livestock operations
are located are 85 to 100 percent dependent on well
water. Within Tillery, North Carolina, he continued,
35 hog farms create 170,000 tons of waste per year,
predominantly in communities that are nonwhite, and
those  farms  use well  water.  Ms. Harris asked
whether the state of North Carolina was concerned
about wells in areas in which hog farms are located.
Dr. Wing responded that the state of North Carolina
had implemented a testing program for neighbors of
hog farms who depend on wells. However, because
of a lack of  adequate  enforcement and public
education,  he  observed, many people did  not
participate in the well testing. Dr. Wing also noted
that many counties do not cooperate with the state
because of pressure from pork farmers.

Mr. Grant asked that the subcommittee act on behalf
of people living near CAFOs, in part because the
communities have done all they can and now need
the help of others. Dr. Wing also noted that health
issues associated with both water and air must be
explored. Thus far, attention has been concentrated
on water pollution, he pointed out.  Mr. Cole noted
that the subcommittee's  proposed resolution  on
CAFOs was  the  first step in  enforcement and
indicated  that a larger report supporting the issue
would be the next step.

4.3 Update on the U.S. Environmental Protection
   Agency Guidance Related to Title VI of the
   Civil  Rights Act of 1964 and Health  Effects
   Associated with Lack of Enforcement of Title
   VI

Ms. Goode provided an overview of the status of
EPA's guidance  to   address  administrative
complaints filed  under Title VI which  challenge
permits and also discussed OCR's current case load
and backlog.

Ms. Goode described the Federal Register package
that would contain EPA's revised draft guidance
related to enforcing Title VI. Exhibit 4-5 describes
the new draft guidance.  She  also stated  that the
Federal Register will identify times and dates of
listening sessions and conference calls to  discuss
the guidance documents.  She explained that a
robust external process of  review of the Interim
Guidance for Investigating Title VI Administrative
Complaints Challenging Permits had taken place for
the past two years.  That process, she said, had
included stakeholder meetings and the convening of
the Title VI Implementation Advisory Committee. An
extensive internal review process also had occurred,
including  five meetings with the EPA Administrator
since May 1999.  Ms. Goode stated that she also
had  met with representatives  of the Office of
Management and  Budget and  members of the
congressional  Black  Caucus  to  discuss the
guidance. She noted that members of Congress
were being contacted to obtain their comments on
the guidance and stated that a civil rights status
report soon would be placed on EPA OCR's Internet
home page.  An electronic mailbox also will be
established on the home page to solicit comments
on the new draft guidance documents.

Ms. Goode then discussed the changes to the draft
guidance. Ms. Goode explained that it has been
suggested that a list of definitions be added to the
guidance; the guidance be made more concrete; and
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                                                                     Atlanta, Georgia, May 25,2000

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  National Environmental Justice Advisory Council
Enforcement Subcommittee
                                                                                                         Exhibit 4-5
                        U.S. ENVIRONMENTAL PROTECTION AGENCY TITLE VI OF
                          THE CIVIL RIGHTS ACT OF 1964 GUIDANCE DOCUMENTS

   The U.S. Environmental  Protection Agency (EPA) Office of Civil Rights (OCR) will publish two draft Title VI of the Civil
   rights Act of 1964 (Title  VI) guidance documents in the Federal Register on June 27, 2000. EPA will accept public
   comments for 60 days, until August 28,2000.  The draft documents are titled:

   •        Draft Title VI Guidance for EPA Assistance Recipients Administering Environmental Permitting Programs
            ("Draft Recipient Guidance")

            Draft Revised Guidance for Investigating Title VI Administrative Complaints Challenging Permits ( "Draft
            Revised Investigation Guidance ")

   Title VI prohibits discrimination based on race, color, or national origin by any entity that receives Federal financial
   assistance. When entities (such as, state environmental agencies) receive EPA financial assistance, they accept the
   obligation to comply with Title VI and with EPA's Title VI implementing regulations. Persons who believe EPA recipients
   are administering their programs in a discriminatory manner may file an administrative complaint with EPA.

   In 1998, EPA issued its Interim Guidance for Investigating Title VI Administrative Complaints Challenging Permits
   ("Interim Guidance") for public comment.  The Interim Guidance provided an initial framework for EPA OCR to process
   complaints filed under Title VI that allege discriminatory environmental and health effects from environmental (pollution
   control) permits issued by EPA financial assistance recipients.

   EPA has revised the Interim Guidance based upon a robust stakeholder input process, as well as the public comments
   received on the Interim Guidance. EPA convened an advisory group to provide recommendations and has conducted
   numerous meetings with a variety of stakeholders over the past two years.

   What is the purpose of these documents?

   The Draft Recipient Guidance is intended to offer suggestions to assist state and local recipients of EPA financial assistance
   develop approaches and activities to address potential Title VI concerns. Examples include fostering effective public
   participation, conducting assessments of potential adverse impacts, developing geographic, area-wide pollution reduction
   programs, and using informal resolution techniques. Recipients are not required to adopt or implement any of the Title VI
   approaches or activities described in the Draft Recipient Guidance.

   The Draft Revised Investigation Guidance describes procedures EPA staff may use to perform investigations of Title VI
   administrative complaints that allege adverse, disparate impacts caused by permitting decisions.

   In response to comments received by EPA, the Draft Revised Investigation Guidance differs from the Interim Guidance by
   providing more detail and clarity.  The new guidance  contains more detailed explanations of the various steps of an
   investigation and the actions that may be considered at each stage (such as, how a finding of adverse impact is expected to
   be reached, or when an allegation will likely be dismissed). In addition, both guidance documents define terms through
   examples and a glossary.

   More than 120 written comments on the Interim Guidance were received from a broad range of interested parties.
   Community groups, environmental justice organizations, state and local governments, industry, academia, and other
   interested stakeholders also contributed to the development of the draft guidance documents as part of the Title VI
   Implementation Advisory  Committee established by EPA, as well as through many other meetings with stakeholders during
   the past two years.
Atlanta, Georgia, May 25,2000
                                                                                                              4-11

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Enforcement Subcommittee
      National Environmental Justice Advisory Council
that the guidance specify community involvement in
the case investigation as early as possible.  EPA
also is suggesting ways in which state programs can
improve their efforts and track their records on civil
rights cases, she said. Ms. Goode asked that all
comments submitted on the new draft guidance be
very focused to facilitate the process of approval;
comments should be submitted within the 60-day
comment period, said Ms. Goode,  because the
Agency would like to release the final guidance
document in the Federal Register by the end of the
calendar year.  She noted that the 60-day comment
period would  not  begin  until the  document is
released in the Federal Register for comments. The
guidance, she added, also would be made available
on EPA's Internet homepage.

Ms. Goode then explained that the outreach strategy
will be crucial  in soliciting comments on the new
guidance documents.  She reported that she had
planned several meetings across the country. Such
meetings, she continued,  were  to  be  held  in
Washington D.C.; Dallas, Texas; Chicago, Illinois;
New York, New York; and Oakland,  California to
solicit comments from various groups and to address
those comments.

With  respect  to civil rights  cases,  Ms.  Goode
explained that actual facts must be the focus of
EPA's inquiry  into  a case.  She stated that the
allegations of  the complaint, the availability  of
methodologies, and the resources necessary to
perform a reasonable investigation of the case are
factors that affect EPA's work on various cases. Mr.
Cole mentioned some specific civil rights cases and
then asked about the .issue of backlog. Ms. Goode
responded that strategies adopted to attempt to
decrease backlog had failed.  She explained that
cases continue to be unique and complex,  and she
expressed the hope that those cases  will serve as
good examples to expedite future cases.  Mr. Cole
asked what was the greatest impediment to efforts
to decrease backlog, noting that 27 cases  are
pending review and 21 cases are at the accept or
reject stage. Ms. Goode responded that the current
staff and  resources  are  insufficient. She  also
explained that no adequate framework had been
established for resolving the cases. Ms. Goode then
stated that, when she first joined OCR,  she had
inherited a backlog that since had  continued to
increase in number and complexity. She also cited
delays because of a large learning curve, since a
history of resolved cases is lacking. Mr. Cole noted
that  he was troubled  to  hear that  Ms.  Goode
continues to wait for a proper framework  through
which to resolve cases, since she had  been waiting
for such a framework when she joined the program.
Ms. Goode explained that the framework continues
to evolve and must include decisions about the
approach to the case and who to involve to obtain
support in resolving the case. She said that she had
requested more staff from various media offices to
help decide whether analytical tools and policy
issues relating to civil rights cases should be more
defined in greater detail.   She stated further that
staffing issues and the daunting nature of tasks
associated  with the  cases  has  hindered  the
schedule.

In response to a question from Ms. Mayfield about
whether health is used as  a criterion, Ms. Goode
responded that she had spoken with several people
about that matter.  She cited difficulty in gathering
public health data because data identified usually are
not adjusted for race or age. She also explained that
locating and categorizing data are difficult and, while
she acknowledges that a relationship between health
issues and the  problems  occurring  must  be
demonstrated, she also reported that the current
health  of a community  is not  considered as  a
criterion in the new draft guidance.

Expressing concern about the backlog of civil rights
cases at EPA, Ms. Harris asked whether the support
of part-time attorneys could be called upon.  Ms.
Goode responded  that she did have  attorneys
working on cases.  Ms. Mayfield then asked about
the status of cases in which complaints were filed
years ago,  but the cases still  have not been
resolved. Ms. Goode explained that those cases are
not disregarded. She added that final decisions on
those  cases   will  be   based  on  historical
circumstances.

Mr. Cole noted that, until the Agency has credible
enforcement related to Title VI, EPA will not have
credible environmental justice enforcement. The
civil rights of citizens are being ignored and the civil
rights of communities of color are being violated, he
declared.  Mr. Cole cited 94 complaints in seven
years, none of which, he  pointed out, had been
resolved. He observed that, in seven years, some
cases should have been resolved.  He observed that
he was speaking for the subcommittee and noted
that the members of the subcommittee were looking
forward to  response and action from OCR.  Ms.
Goode responded that she  did not excuse EPA for
its lack of progress, adding  that she was mindful of
the subcommittee's concerns and hopes to move
forward quickly.
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 National Environmental Justice Advisory Council
                        Enforcement Subcommittee
     5.0  RESOLUTIONS AND SIGNIFICANT
                ACTION ITEMS

 This section summarizes the resolutions discussed
 by the Enforcement Subcommittee and forwarded to
 the  Executive  Council  of  the   NEJAC   for
 consideration.  In  addition, this section discusses
 significant action items adopted by members of the
 subcommittee.

 The members of the Enforcement Subcommittee
 discussed  a   resolution in  which  the  NEJAC
 recommends to the EPA Administrator that several
 actions be taken related to the issue of CAFOs. The
 Enforcement Subcommittee amended a proposed
 resolution on CAFOs to reflect concerns of the Air
 and Water Subcommittee.  Amendments  made to
 the resolution include:

 •   Direct the  EPA  Office of Air  and Radiation
    (OAR) to conduct  analyses of  its authority to
    protect  communities from  odor and toxic
    emissions.

 •   Mandate  groundwater  monitoring at CAFO
    operations.

 •   Incorporate community concerns  in guidelines
    for the siting of CAFOs.

    Prevent  states  from  starting   new  CAFO
    programs  through  aggressive   Federal
    crackdowns on states that allow facilities to
    operate  without National Pollutant Discharge
    Elimination System (NPDES) permits.

 •   Establish a CAFO hotline for reporting violations
    of environmental laws to EPA.

 •   Aggressively audit facilities of CAFO owners that
    have poor compliance records, particularly those
    located in environmental justice communities, to
    target them for shutdown.

 •   Protect  the integrity of  Federal  authority
    delegated  to  states  by removing permitting
    authority from  states that  flaunt  the  NPDES
    process  with regard to CAFOs.

 •   Establish triggers for imposition of penalties by
    the state, and triggers for EPA action.

 •   Survey  other  Federal  agencies to  identify
    subsidies of CAFOs that  may conflict with
    requirements  for  compliance  with   Federal
    environmental laws.
 •   Require NPDES  permits for land disposal of
     CAFO waste.

 The members discussed a resolution on multiple
 chemical sensitivity (MCS) through which the NEJAC
 recommends to the EPA Administrator that EPA:

 •   Establish disease registries and make MCS a
     "reportable condition."

 •   Investigate and  report the prevalence and
     incidence of MCS in minority communities and
     low-income communities,  especially  those
     heavily affected by environmental pollutants.

 •   Provide  funding  and  programs  to  support
     increased  understanding,   education,   and
     research that  will aid  in identifying  causes,
     diagnosis,  treatment,  accommodation,  and
     prevention of MCS.

 •   Include MCS  as  a factor when establishing
     standards and developing regulations, especially
     with regard to  multiple exposures  to  and
     cumulative effects   from  environmental
     chemicals.

 •    Examine existing environmental laws and revise
     or  add  standards, as appropriate,  ensure
     protection from chemicals  that cause  initial
    sensitization and  those that trigger  existing
    sensitivities.

 •    Encourage  states and other government and
    nongovernment entities  to take regulatory and
    voluntary  actions,  including  notices   and
    restrictions as necessary, to protect individuals
    who have MCS in the workplace, the home, and
    public places.

 •   Ensure that accurate information about minority
    and low-income populations  is included in the
    final version of the report of the Interagency
    Workgroup on MCS and other policy documents
    issued on the matter of MCS.

 •   Establish a fragrance-free policy for meetings
    and identify and  use  facilities  that  actively
    attempt to reduce and  minimize use of  toxic
    chemicals, for example, those that use non-toxic
    building materials, cleaning agents, and pest
    control measures.

The members of the subcommittee also adopted the
following significant action items:

•/"  Requested that  EPA provide the time table for its
    strategic planning process for the budget.
Atlanta, Georgia, May 25,2000
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Enforcement Subcommittee
  National Environmental Justice Advisory Council
    Requested that the state of New Hampshire
    provide one example of an EGOS or NAPA
    report on state enforcement for comparison to
    an EPA  inspector general report on state
    enforcement.

    Requested that EPA provide a "report card" on
    enforcement   of   environmental  laws  and
    regulations by states.

    Assigned Ms. Mood and Ms. Mayfieid to identify
    ways to incorporate the views of communities of
    colorand low-income communities about health-
    based  targeting   into  the  subcommittee's
    strategic plan.

    Agreed  to  prepare a letter  to the EPA
    Administrator  to  request an  update  on the
    Agency's analysis of whether enforcement fines
    are equitable  and consistent  in minority and
    nonminority areas.

    Proposed  that   Ms.  Harris  represent the
    Enforcement  Subcommittee on  the proposed
    Federal facilities work group of the NEJAC.

    Assigned Mr.  Varney, Ms. Mayfieid,  and Ms.
    Mood to gather information about EPA's "bad
    actor"   regulation for  the  subcommittee's
    strategic plan-.

    Agreed to draft a letter to be addressed to each
    FACA at EPA to request that an environmental
    justice perspective  be represented on each
    FACA  committee.     In  the  letter,  the
    Environmental Law  Institute  report Building
    Capacity to  Participate  in  Environmental
    Protection  Agency  Activities:  A   Needs
    Assessment and Analysis should be referred to
    with regard to broader community representation
    in environmental decision making.
Asked that Mr. Varney provide examples of
interagency coordination and cooperation on the
state  level to  assist the subcommittee in
preparing for the December 2000 meeting of the
NEJAC.

Agreed to continue drafting a report on lack of
enforcement of Title VI by EPA.  The report will
outline the background and history of Title VI
enforcement   issues   and  provide
recommendationsforfuture action and response
by EPA.

Agreed to draft a letter to EPA to request that
the Agency  meet  with   members  of  the
community  of  Anniston,  Alabama   and
representatives of  the Alabama Department of
Environmental  Management (ADEM). Agreed
further to request that a representative of EPA
provide an update on the activities in Anniston,
Alabama, to the NEJAC.

Agreed  to draft a letter  to  the citizens of
Anniston, Alabama, to thank  them  for the
opportunity  to  visit their  community and to
encourage  them  to  keep in  contact  with
members of the NEJAC.

Submitted to the Executive  Council of the
NEJAC for approval a letter addressed  to the
EPA Administrator that outlines the concerns of
the Enforcement Subcommittee about  EPA's
implementation  of its Tier  2 Clean  Fuels
Initiative.

Ms. Goode made a commitment to convene a
meeting in July 2000  in southern California to
discuss the outreach strategy to solicit views and
comments on the new guidance for Title  VI.
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                 Atlanta, Georgia, May 25,2000

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                      MEETING SUMMARY
                             of the
             HEALTH AND RESEARCH SUBCOMMITTEE
                             of the
     NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                          May 25, 2000
                      ATLANTA, GEORGIA
     Meeting Summary Accepted By:
Lawrence Martin
Co-Designated Federal Official
Office of Research and Development
U.S. Environmental Protection Agency
Chen Wen
Co-Designated Federal Official
Office of Pollution Prevention
 and Toxic Substances
U.S. Environmental Protection Agency
Aretha Brockett
Co-Designated Federal Official
Office of Pollution Prevention
 and Toxic Substances
U.S. Environmental Protection
 Agency
Marinelle Payton
Chair

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                                        CHAPTER FIVE
                                       MEETING OF THE
                           HEALTH AND RESEARCH SUBCOMMITTEE
             1.0 INTRODUCTION

 The Health and Research Subcommittee of the
 National Environmental Justice Advisory Council
 (NEJAC) conducted a one-day meeting on Thursday,
 May 25, 2000, during a four-day meeting of the
 NEJAC in Atlanta, Georgia. Dr. Marinelle Payton,
 School of Public Health, Harvard University Medical
 School,  continues  to  serve  as chair  of  the
 subcommittee.  Mr. Chen Wen, U.S. Environmental
 Protection  Agency  (EPA)  Office  of  Pollution
 Prevention and Toxic Substances (OPPTS), and Mr.
 Lawrence Martin, EPA Office  of Research and
 Development (ORD), continue to serve as the co-
 Designated   Federal  Officials  (DFO)  for  the
 subcommittee.  Exhibit 5-1 presents a list of the
 members who attended the meeting and identifies
 those members who were unable to attend.

 This chapter, which provides a summary of the
 deliberations  of the  members of the  Health and
 Research Subcommittee,  is  organized in five
 sections, including this  Introduction.  Section 2.0,
 Remarks, summarizes the opening remarks of the
 chair. Section 3.0, Activities of the Subcommittee,
 summarizes the reports on and  discussions of the
 activities of  the subcommittee,  such  as  the
 development  of the decision tree framework for
 community-directed   environmental  health
 assessment.  Section 4.0,  Interagency Forum on
 Partnerships in Public Health, presents an overview
 of discussions held between the  subcommittee and
 representatives of various  government  agencies
 about building partnerships between such agencies
 and communities to  address public health issues.
 Section  5.0,  Resolutions and  Significant Action
 Items, summarizes the resolutions forwarded to the
 Executive Council of the NEJAC for consideration
 and the significant action  items adopted by the
 subcommittee.

 The members of the subcommittee also participated
 in a joint session with the Waste and Facility Siting
 Subcommittee  of the  NEJAC to discuss the
 exposure  investigation  of   Mossville, Calcasieu
 Parish, Louisiana, conducted by the Agency for
 Toxic Substances and Disease Registry (ATSDR) in
 November 1999. Chapter  Nine of this document
 provides a summary of the deliberations of the joint
 session.
                                    Exhibit 5-1
   HEALTH AND RESEARCH SUBCOMMITTEE

                   Members
            Who Attended the Meeting
                 May 25, 2000

            Dr. Marinelle Payton, Chair
          Ms. Rose Augustine, Vice-Chair
           Mr. Lawrence Martin, co-DFO
             Mr. Chen Wen, co-DFO

               Mr. Lawrence Dark
           Dr. Michael J. DiBartolomeis
               Mr. Carlos Porras
               Ms. Peggy Shepard
                 Ms. Jane Stahl

                   Members
           Who Were Unable To Attend

                Mr. Philip Lewis
               Mr. Jess Womack
               2.0  REMARKS

Dr. Payton opened the subcommittee meeting by
welcoming the members present,  as well as Mr.
Wen and Mr. Martin. Dr. Payton also welcomed the
representatives  of  various government agencies
present for the  meeting and explained that those
individuals would participate in the interagencyforum
on partnerships in public health to be conducted as
part of the meeting of the subcommittee.

  3.0  ACTIVITIES OF THE SUBCOMMITTEE

This  section discusses  the  activities  of  the
subcommittee, which included  a report from the
subcommittee's  Working  Group on  Community
Environmental Health Assessment on the evaluation
of and  recommendations  for  the  decision tree
framework for community-directed environmental
health assessment and a discussion of concerns
expressed during the public comment period of the
NEJACabout environmental justice issues related to
Federal facilities.
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                                          5-1

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Health and Research Subcommittee
     National Environmental Justice Advisory Council
3.1 Report of the Working Group on Community
    Environmental  Health Assessment on the
    Decision Tree Framework for Community-
    Directed Environmental Health Assessment

Dr. Payton stated that the goal of the Decision Tree
Framework for Community-Directed Environmental
Health Assessment  is to develop a framework to
provide communities with an approach to identify,
prevent, and solve direct and indirect environmental
problems. She indicated that its structure is a step-
wise   framework   to   assess  and  prioritize
environmental   health  concerns  and evaluate
possible options and actions. At each step, the user
is  referred to a repository to determine available
tools, models, and data for each problem formulation
and assessment strategy, Dr. Payton stated.

Dr.  Payton  presented  the past  and  present
developmental stages as well as the next steps in
the development of  the decision tree framework.
She mentioned that the past activities included the
formulation of the subcommittee's Working Group on
Community Environmental Health Assessment and
a Sample Draft Decision Tree; the present activities
include beginning the  actual  writing  with close
emphasis on its language, content, and complexity,
as  well  as  to incorporate the working group's
recommendations and advice.

She further stated  that the next steps include:
developing  a  prototype  for  community  trials,
identifying community and  government resources;
linking with local, state, federal,  tribal, and regional
resources,  universities, and health departments;
promoting the productto community users; providing
technical   assistance  to   communities  in
implementation of tool; evaluating the  tool by both
the users and the agencies; and building mechanism
that provide feedback to government agencies
regarding research  and data  gaps,  needs  and
prioritization.

Continuing,  Dr. Payton,  emphasized the  key
outcomes of the Decision Tree Framework:

•   Empower communities for effective leadership.

•   Strengthen  linkages   between   agencies
    (environmental and public health) and affected
    communities.

•   Identify deficiencies in the existing  repository.

•   Guide subsequent research and related work.
Mr. Carlos  Porras,  Communities  for  a Better
Environment, presented the report of the Working
Group   on  Community  Environmental  Health
Assessment on  that  group's evaluation  of  the
decision tree framework.  Mr. Porras explained that
the working group had met to assess the structure,
content,  and  language  of  the  decision  tree
framework and to discuss the next  steps in  the
development of the decision tree framework.

Mr. Porras listed the crucial issues that the working
group  had identified  and  discussed  during  its
evaluation of the decision tree framework.  Those
issues, he reported, had included:

•  The Health and Research Subcommittee and
   Working Group on Community Environmental
   Health  Assessment  should  maintain direct
   control of the development and design of the
   decision tree framework.

•  Once completed,  the decision tree framework
   should be made accessible to all communities.

•  The decision tree framework should be provided
   to  communities  both as  hard  copy and in
   electronic format.

•  The draft design and language of the decision
   tree framework  in  its present form are  too
   complex and technical for communities to  use
   easily.

•  The appropriate applications and limitations of
   the  decision  tree  framework  must   be
   communicated  effectively to  users of  the
   framework. The target audience also must be
   identified more clearly.

•  The level of resources available for the design
   and development of the decision tree framework
   should be determined.

•  A plan for "piloting" the decision tree framework
   should be  specified   explicitly during  the
   development of the framework.

Continuing, Mr. Porras stated that the working group
had made the following recommendations to the
Health  and Research Subcommittee for the next
phase   of  development  of  the  decision  tree
framework.

•  The Health and Research Subcommittee should
   establish  a time line for the development  and
   completion of the  decision tree framework.
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National Environmental Justice Advisory Council
                 Health and Research Subcommittee
•   The Health and Research Subcommittee should
    identify and  secure from  EPA the  resources
    necessary for  the future  development of  the
    decision  tree  framework.     Further,   the
    subcommittee should develop and recommend
    a budget for the development of the decision
    tree framework.

•   The Health and Research Subcommittee should
    invite  representatives of communities and of
    agencies other than EPA to become involved in
    the development of the decision tree framework.

•   The Health and Research Subcommittee should
    evaluate the  level  of  language used in  the
    decision tree framework  to ensure that  it is
    community-friendly and appropriately revise the
    language presented in the draft version of the
    decision tree framework.

•   The Health and Research Subcommittee should
    develop a  strategic  plan for  "piloting"  the
    decision tree framework.

•   The Health and Research Subcommittee should
    recommend that EPA support the decision tree
    framework as a priority issue.

•   The Health and Research Subcommittee should
    recommend that EPA extend the terms of Dr.
    Payton and Mr. Porras and the term of  the
    working group  to  ensure continuity in  the
    development of the decision tree framework.

Members of the subcommittee agreed to prepare for
consideration by the Executive Council of the NEJAC
a proposed resolution to make  recommendations to
EPA for the future development of the decision tree
framework as a priority for EPA.

A  member of the audience  requested  that  the
decision tree framework be culturally sensitive.  She
cautioned   that  cultural   sensitivity  should  be
incorporated into the framework,  inclusive of all
cultural  differences,   before  introducing   the
framework to communities. Dr. Payton assured the
participant that the development of the prototype of
the framework had taken  cultural differences into
consideration.

3.2 Discussion of Federal Facilities

In light of comments submitted to the Executive
Council of the NEJAC about Federal facilities,  the
members of the subcommittee agreed to establish a
work group on Federal facilities.  The members of
the subcommittee agreed to invite members of other
subcommittees of the NEJAC; representatives of
communities   that  have  environmental  justice
concerns related to Federal facilities; representatives
of  EPA Federal  Facilities  Enforcement  Office
(FFEO); and ATSDR's Office of Federal Facilities to
participate in the work group.

The members of the subcommittee also agreed to
develop separate resolutions  to recommend that
EPA (1) include criteria in permitting processes to
protect communities struggling with comparatively
poor health from  the further burden of additional
facilities that release pollutants and (2) establish an
effective national facility registration system for all
operating facilities that emit toxic chemicals and
make  information  about  such  facilities  both
accessible and understandable to the public.  The
subcommittee also resolved to recommend that the
next meeting  of the NEJAC be focused on issues
related to environmental justice concerns at Federal
facilities.

        4.0  INTERAGENCY FORUM ON
     PARTNERSHIPS IN PUBLIC HEALTH

This section summarizes the discussions conducted
during   the  interagency  forum,   "Healthcare:
Establishing Partnerships with Minorities, Tribal, and
Low-Income Communities," held to  explore the
establishment of partnerships between government
agencies and communities to address public health
issues. During the discussions, the members of the
subcommittee and representatives of government
agencies examined the role  of each agency in
addressing public health issues; research needs; a
strategic plan to consider the next steps in making
public health  a priority of government  agencies;
community-based health assessment; and pollution
prevention and intervention in minority and low-
income communities. Exhibit 5-2 presents a list of
agency  representatives who  participated  in the
forum.

Dr. William Sanders, Director, Office of Pollution
Prevention and Toxics (OPPT), EPA OPPTS, began
the interagency forum by sharing some observations
that  he had  made  during the  panel  sessions
presented at the meeting of the Executive Council of
the NEJAC on May 24,2000. He made the following
points:

•    In general, government agencies make an effort
    to fit public health problems into the existing
    scientific structure,  rather than structure the
    science to address public health issues.

•    Agencies  must manage  public  expectations
    better.
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Health and Research Subcommittee
     National Environmental Justice Advisory Council
                                     Exhibit 5-2
      AGENCY REPRESENTATIVES WHO
    PARTICIPATED IN THE INTERAGENCY
         FORUM ON PUBLIC HEALTH

   Dr. Henry Falk, Agency for Toxic Substances and
            Disease Registry (ATSDR)
           Mr. Francisco Tomei, ATSDR
           Dr. Ruben Warren, ATSDR
  Ms. Rebecca Lee-Pethel, Center for Disease Control
                 and Prevention
    Mr. Richard Gragg, Florida A & M University
   Dr. Jeanean Willis, Health Resources and Services
                 Administration
      Dr. John Kemer, National Cancer Institute
    Dr. Charles Wells, National Institute of Health
  Dr. William Sanders, U.S. Environmental Protection
    Agency (EPA) Office of Pollution Prevention
              and Toxic Substances
    Dr. Harold Zenick, EPA Office of Research and
                 Development
•   Government moves too slowly. Agencies must
    improve the conditions that affect public health,
    rather than merely studying those conditions.  If
    government remains content with the status quo,
    such as random samples, court challenges, and
    peer reviews; much time will pass before there
    is improvement in public health.

•   In addition to  research, government agencies
    should  focus  their activities on action.  For
    example, regulatory agencies must look beyond
    compliance and work with representatives  to
    encourage  industry  to  be  cleaner  within
    operations. He noted as an example OPPT's
    voluntary cleanup program.

Mr. Charles Lee, Associate Director for Policy and
Interagency Liaison, Office of Environmental Justice
(OEJ), EPA Office of Enforcement and Compliance
Assurance  (OECA), agreed with  Dr.  Sanders'
observations,  stating  that  some   concrete
recommendations related to public health had been
made during the panel sessions. Mr. Lee also stated
that he would like the members of the Health and
Research Subcommittee to address the comments
and recommendations made by the panelists  to
develop solutions to address issues related to public
health and environmental justice. He also urged the
members of the subcommittee to identify possible
solutions to such questions as, "If existing science
does not fit' the problem and government moves too
slow, then how can the NEJAC affect change related
to environmental health issues?"
Dr. John Kerner, Assistant Deputy Director, National
Cancer Institute (NCI), National Institutes of Health
(NIH),  encouraged the participants to visit NCI's
Internet homepage to view that agency's priority list
related to environmental justice. He stated that NCI
would welcome comments about how environmental
issues  and  disparities in health  conditions  are
related.

Continuing, Dr. Kerner agreed with Dr. Sanders that
agencies  should  determine  how to  best  apply
scientific  methods  to  environmental  justice
situations.   He added that government agency
scientists  should visit  and  work  directly  with
communities.  He commented that there are more
communities than there are people working in the
agencies.  Therefore, he said, agencies must work
together to develop effective systems for addressing
various public health issues. Such systems, he said,
then could become "models" for implementation in
other communities.   Dr. Kerner  suggested that
agencies form what he called a "collaborative SWAT
team" for evaluating deficiencies in current agency
programs; give priority to  environmental  justice
communities  and the issues those communities
face; and develop appropriate public health systems.
Dr. Kerner also suggested the development of a data
base of environmental justice communities and their
public health problems. Such a tool, he observed,
would  help the agencies to set priorities  among
public health issues, as appropriate to their roles in
government.

Dr.  Harold   Zenick,  Acting  Deputy  Assistant
Administrator for Science, EPA ORD, explained that
ORD primarily serves regulatory and program offices
at EPA. However, he continued, ORD could address
public health care issues by (1) providing funding to
communities  through its  competitive  request for
application (RFA) process for public health research
(recent efforts in  this area  have  included  co-
sponsoring  community-based  RFAs   with  the
National Institute of Environmental Health Sciences
[NIEHS]);  (2)  exploring public health  issues that
plague a  number of communities  and creating
opportunities  in  some of those communities to
conduct research; and (3) providing expertise and
recommendations to regulatory offices that work
directly with communities. He also added that the
subcommittee should understand that  the Agency
uses available tools to meet research needs.

Ms.  Rose Augustine, Tusconans  for  a Clean
Environment, stated  that  she was encouraged to
hear that the agencies agree that scientists should
work directly with communities, commenting that
local health departments are "dinosaurs" that do not
have the resources or  expertise necessary to
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address extensive public health issues.  She added
that Federal agencies seem to "walk away" when a
public health problem is identified in a community,
referring   the  community  to  its  local  health
department.    Ms.  Augustine  stressed  that
communities  need  increased   resources  and
assistance after a public health problem is identified.

Dr. Henry Falk, Assistant Administrator, ATSDR,
acknowledged Ms. Augustine's comments, adding
that ATSDR could serve as a bridge between local
health departments and Federal agencies. He also
commented that ATSDR provides funds to state
health departments to address environmental health
issues.  Continuing, he stated that EPA probably
would never have the financial resources to add a
large number of physicians and epidemiologists to its
staff, and must rely heavily on state and local health
departments. Referring.to Dr. Kernels suggestion
that an interagency SWAT team be formed to tackle
the public health crisis, Dr. Falk  stressed that any
interagency collaboration should be designed to be
sustainable. He also suggested that the types of
partnerships  developed between  agencies  be
broadened to include issues beyond physical health
(for example, education), stating that medicine "can
only go so far." Dr. Michael DiBartolomeis, California
Office of Environmental Health Hazard Assessment,
added that the issue of prevention also should be
included.

Dr. Kerner agreed  that  a  strategic  plan  for
interagency  partnerships would  be useless  if
financial resources were not available to fund and
sustain the plan. He noted that community-based
research is one  of. the most  difficult  areas of
research to formulate, secure funds for, and submit
for peer  review.  Dr.  Kerner stated that Federal
agencies  must take the lead  in changing  that
system.    He  also  suggested  that  agencies
encourage and facilitate better partnerships between
university health care institutions and communities.

Responding to Dr. Kerner's statements, Mr. Richard
Gragg, Environmental Sciences Institute, Florida
A&M University, said that many communities distrust
both local and  Federal government agencies.  He
suggested that university systems often can play an
intermediary  role   between  communities   and
government agencies   and   can  facilitate  the
implementation of agency programs. He also stated
that universities can play the role of educator for
communities, as well as for students.

Dr. Jeanean Willis, Health Resources and Services
Administration  (HRSA), Office of Minority Health,
commented that ATSDR and HRSA have training
partnerships with medical universities to train primary
health-care providers to recognize the symptoms of
environmental health hazards.

Ms.   Augustine   suggested  that  HRSA  add
environmental justice issues to  its  "formula" for
funding health clinics,  adding that  health clinics
should provide services to support emotional and
mental health, as well as  physical  health.  Ms.
Augustine also suggested that partnerships can be
established between agencies and  public  school
districts, stating that schools could serve as great
resources in documenting illnesses and symptoms
for a needs assessment.

Dr. Charles Wells, Director of Environmental Health
Sciences, NIEHS, NIH, stated that NIEHS had been
sponsoring community-based grants for partnerships
between  communities and  academic institutions.
However, he added, more grants focused on health
care are needed.

Mr. Lee  pointed  out that  many  researchers are
directed to isolate and  research one aspect of a
health problem  in a  community.   He asked how
agency programs  can be  structured  to assess
community health needs more holistically.

Ms. Peggy Shepard,  West Harlem Environmental
Action, commented that prevention is enforcement
and  that most  environmental justice issues are
enforcement issues or issues related to Title VI of
the Civil Rights Act of 1964.  She asked why the
Federal government  did not  mandate that state
governments   perform   community  health
assessments and form community  partnerships,
adding that public hearings should be a part of such
a process.  Continuing, Ms. Shepard asked why a
definite protocol  for responding to environmental
justice communities that struggle with public health
issues had  not  been  established.   Ending her
remarks, Ms. Shepard suggested  that Federal
agencies use partnerships to leverage resources for
local governments.  For example, she added, the
U.S.   Department   of   Housing   and   Urban
Development (HUD) could be a key partner in urban
settings, where maintenance of housing is a major
issue.

Dr. Zenick suggested that the U.S. Department of
Health and Human Services (HHS)  could  add  a
provision to its center grants program that requires
that  projects funded by  the  grants  include  a
community dimension.

Dr.  Kerner  responded that he believed  that
communities, not Federal agencies, should perform
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Health and Research Subcommittee
      National Environmental Justice Advisory Council
community health needs assessments.  Once a
community has  performed an assessment,  he
continued, local and Federal agencies should assist
the community in meeting its health needs.

Referring to Ms. Shepard's statement identifying the
need for a protocol for responding to communities,
Dr. Kemer stated that risk assessment is the only
current, standard model.  However, he stated, the
protocol for risk assessment should be revised to
include economic disparities, social problems, and
other  factors that also  contribute to community
health risks, both current and potential.

Dr. Falk  suggested  that recommendations  be
categorized   in  four   levels   so  that   the
recommendations can be managed and a strategic
plan developed.  The levels of recommendations
included recommendations at (1)  the community
level, (2) the level of state and local governments,
(3) the Federal level, and (4) the systemic level. Dr.
Falk  suggested  that  recommendations  or
suggestions for involving universities be combined
with recommendations at the community level.

After a brief break in the proceedings,  Dr. Payton
suggested that the members of the subcommittee
and representatives of the agencies focus the rest of
their discussion  on  identifying specific areas of
research that should be  pursued to  improve
community-based research programs. She asked
that each agency representative comment on the
agency's research priorities.

Dr. Falk stated that ATSDR focuses its research and
efforts on improving the following systems: .

•  The ability to document exposures to humans.

•  The availability of documented information to
   communities and other entities so that ATSDR
   can serve as a clearinghouse for information
   related to diseases and the environment.

•  Methods   of  working  with  local  medical
   professionals to  collect  local  health  data
   effectively.

Dr. Sanders said that OPPT's  priority is pollution
prevention.  Referring to the phrase "I'm sick and
tired of being sick and tired," Dr. Sanders noted that
action rather than research is OPPT's first priority.
He said that OPPT was to focus on developing
methods of  working with industry to remedy
conditions that are making people sick, for example,
through source reduction and pollution prevention.
Dr. Zenick first stated that ORD was exploring ways
to organize, inventory, and disseminate information
to the public, rather than focusing only on research.
However, he said, ORD had focused on the following
research areas:   (1) developing an interagency,
human exposure program to characterize the types
of chemicals to which  the country, as a whole, is
exposed; (2) developing a protocol for cumulative
and aggregate risk assessment; and (3) assessing
the types  of environmental  exposures that affect
children and how children's health is affected.  Dr.
Zenick added that the challenge that faces ORD is to
"think  multimedia"  and cultivate a  multimedia
approach  when  researching   sources   of
contamination.

Mr.   Reuben  Warren,  ATSDR,  stated  that
establishing  partnerships  with  communities  to
document environmental hazards and developing
better methods for collecting data from communities
would help to identify areas of need and improve
methods of providing health care.

Dr. Wells stated that  priority areas for NIEHS are (1)
designing programs that are more quantitative than
those pursued in the past; (2) working to increase
the  awareness,  empowerment,  and  research
capabilities of communities by working  with and
training university scientists and medical doctors; (3)
communicating  the  value of such  research  to
academia so that university officials will support that
research and those  programs; and (4) identifying
sources of funds available  to  communities for
disease prevention and awareness.

Mr. Francisco Tomei-Torres,  ATSDR,  commented
that Federal agencies are involved in many activities
and  services focused  on public  health,  but that
agencies should work together to build  a unified
system for meeting the needs of the community.

The members of the subcommittee and the agency
representatives then discussed at length a resolution
to request that the NEJAC establish an Interagency
Working Group on Public Health to be made up of
members of the subcommittee and representatives
who had participated in the interagency forum. Ms.
Augustine  moved  that the members  of  the
subcommittee formulate a  work  group.   Mr.
Lawrence Dark, Columbia Williamette Area Health
Education Center, seconded the motion.

    5.0 RESOLUTIONS AND SIGNIFICANT
               ACTION ITEMS

This section summarizes the resolutions forwarded
to the  Executive  Council   of  the   NEJAC for
5-6
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National Environmental Justice Advisory Council
             Health and Research Subcommittee
consideration, as well as  significant action items
adopted by the Health and Research Subcommittee.

The members agreed to forward to the Executive
Council of the NEJAC the  following resolutions, in
which the NEJAC requests that EPA:

•   Create a work group to address issues related to
    environmental justice at Federal facilities.

•   Support the Decision  Tree Framework as a
    priority issue and  extend the terms  of  the
    Working Group on Community Environmental
    Health Assessment.

The members also adopted the following significant
action items:

«/"  Establish an  Interagency Working Group on
    Public Health, which will include members of the
    Health  and  Research  Subcommittee  of  the
    NEJAC and representatives of Federal agencies
    and medical universities, to develop a strategic
    plan  for  implementing  an   integrated,
    collaborative,  community-based public health
    agenda.

»^  Develop a resolution that recommends that the
    next meeting of the NEJAC focus on issues of
    environmental justice  related  to   Federal
    facilities.     In   addition,  the   resolution
    recommends  EPA  prepare  and  submit  for
    signature by  President Clinton an Executive
    Order that requires  that all Federal agencies
    ensure compliance with EPA or state standards,
    whichever are more stringent, governing site
    remediation and pollution control and abatement
    at all Federal facilities, active or inactive, and to
    further authorize EPA to monitor and enforce the
    compliance  by  Federal  agencies  with  all
    environmental laws and standards.
«/"
Adopt  recommendations from  the Working
Group on  Community Environmental  Health
Assessment. The recommendations include (1 )
proposing  a resolution  to  the NEJAC that
recommends that EPA support the Decision
Tree Framework as a priority issue and (2)
extending the terms of  the  members  of the
workgroup and the chair of the subcommittee to
maintain continuity in the development of the
Decision Tree Framework.

Establish a working group on Federal facilities.
The members of the subcommittee agreed to
invite members of other subcommittees of the
NEJAC, representatives  of the environmental
justice community, and representatives of EPA
FFEO and ATSDR's Office of Federal Facilities
to participate in the work group.

Develop a resolution that recommends that EPA
include  criteria in  permitting  processes that
protect   communities  struggling    with
comparatively  poor health  from the further
burden  of  additional facilities  that release
pollutants.

Develop a resolution that recommends that EPA
establish  an  effective  national registration
system for all operating facilities that emit toxic
chemicals and make information about such
facilities both accessible and understandable to
the public.

Develop a resolution that recommends that EPA
support the formation of a NEJAC working group
on the Mossville dioxin exposure assessment
study.
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                      MEETING SUMMARY
                            of the
             INDIGENOUS PEOPLES SUBCOMMITTEE
                            of the
     NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                         May 25, 2000
                     ATLANTA, GEORGIA
     Meeting Summary Accepted By:
Daniel Gogal
Designated Federal Official
Office of Environmental Justice
U.S. Environmental Protection Agency
Robert Smith
Alternate Designated Federal Official
American Indian Environmental Office
U.S. Environmental Protection Agency
Tom Goldtooth
Chair


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                                        CHAPTER SIX
                                      MEETING OF THE
                           INDIGENOUS PEOPLES SUBCOMMITTEE
             1.0 INTRODUCTION

 The  Indigenous Peoples  Subcommittee  of the
 National Environmental Justice  Advisory Council
 (NEJ AC) conducted a one-day meeting on Thursday,
 May 25, 2000, during a four-day meeting of the
 NEJAC in Atlanta,  Georgia.  Mr. Tom Goldtooth,
 Indigenous Environmental Network (IEN), continues
 to serve as chair of the subcommittee.  Mr. Daniel
 Gogal, U.S. Environmental Protection Agency (EPA),
 Office of Environmental  Justice (OEJ), Office of
 Enforcement and Compliance Assurance (OECA),
 continues to serve as the Designated Federal Official
 (DFO) for the subcommittee, and  Mr. Robert Smith,
 EPA American Indian Environmental Office (AIEO),
 serves  as the newly appointed alternate  DFO.
 Exhibit  6-1 presents  a list of the  members who
 attended the meeting.

 This chapter, which provides  a summary of the
 deliberations   of   the   Indigenous  Peoples
 Subcommittee, is organized in six sections, including
 this Introduction. Section 2.0, Remarks, summarizes
 the opening  remarks of  the chair  and the  DFO.
 Section 3.0,  Discussions  of  the  Subcommittee
 Related to Environmental Health,  summarizes both
 the  discussions  between  members of   the
 subcommittee and technical advisors from Federal
 agencies involved in the protection of environmental
 health in Indian country and the discussions among
 the  members  about  the  specific  problem  of
 persistent organic pollutants (POP) and persistent
 bioaccumulative   toxins   (PBT)  that  affect
 environmental health in Indian country. Section 4.0,
 Presentations and Reports presents an overview of
 each  presentation  and  report  received  by  the
 subcommittee,  as  well  as  summaries  of  the
 questions  and comments the presentations and
 reports  prompted among  the  members of  the
 subcommittee. Section 5.0, Recommendations on
 Environmental Research Needs in Indian Country,
 presents recommendations of the  subcommittee on
 environmental health in Indian country. Section 6.0,
 Resolution and Significant Action Items, summarizes
 the resolution forwarded to the Executive Council of
 the NEJAC for consideration and  the  significant
 action items adopted by the subcommittee.
                                    Exhibit 6-1
    INDIGENOUS PEOPLES SUBCOMMITTEE

                  Members
           Who Attended the Meeting
                 May 25,2000

            Mr. Tom Goldtooth, Chair
        Ms. Jennifer Hill-Kelley, Vice-Chair
             Mr. Daniel Gogal, DFO
         Mr. Robert Smith, Alternate DFO

               Mr. Brad Hamilton
                Ms. Sarah James
               Mr. Charles Miller
                Mr. Dean Suagee
              Mr. Moses Squeochs
                Ms. Jana Walker
               2.0  REMARKS

Mr. Goldtooth opened the subcommittee meeting by
welcoming the members present and Mr. Gogal and
Mr. Smith. After making administrative remarks, he
asked Mr. Gogal to review the guidelines of  the
NEJAC to remind the members and observers of the
protocol to be followed. Mr. Gogal  stated that the
meeting was conducted for the members of  the
Indigenous  Peoples Subcommittee and  that  the
comments   of  observers,  rather  than   open
discussion, would be welcome.

 3.0 DISCUSSIONS OF THE SUBCOMMITTEE
   RELATED TO ENVIRONMENTAL HEALTH

This section  summarizes the discussions  between
members  of the  subcommittee   and  technical
advisors from  Federal  agencies involved  in the
protection of  environmental health in Indian country
and the discussions among the members about the
specific  problem of POPs  and PBTs that affect
environmental health in Indian country.  (Section 3.2
provides a definition of POPs.)
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 Indigenous Peoples Subcommittee
      National Environmental Justice Advisory Council
 3.1 Presentations Environmental  Health  and
    Research in Indian Country

 Mr. Michael Rathsam, Senior Environmental Health
 Officer, Division of Environmental Health Services,
 Indian Health Service (IHS),  U.S.  Department of
 Health and  Human Services (HHS) discussed the
 role of IHS in ensuring environmental health in Indian
 country,  and stated that IHS is  responsible for
 assisting  tribes  in health matters.   Mr. Rathsam
 described how IHS solicits by letter the views of
 tribes about health issues the tribes wish to be given
 priority. He noted that it seems tribes have only that
 single opportunity to  identify their priorities.  To
 remedy that problem, he suggested, a representative
 of IHS's  Environmental  Health Office should be
 present during  the  health priority assessment for
 each tribe.   Mr.  Dean  Suagee,  First  Nations
 Environmental Law Program, Vermont Law School,
 observed that  the process  as  Mr.  Rathsam
 described seems  haphazard,  noting  a need for
 increased interaction among the agencies involved.

 According to Mr. Rathsam, the responsibility and
 resources for the protection of tribal environmental
 health are distributed among a number of Federal
 agencies. Projects address specific problem areas
 rather than  overall  problems  in a  community, he
 said.  As a broad example, Mr. Rathsam described
 problems related to sanitation systems and their
 maintenance.   Development  of such systems is
 provided under a different funding mechanism from
 that which funds training in the maintenance of the
 systems.   A lack  of  coordination between the
 government agencies, therefore, can result in the
 development of a sanitation system that a tribe is
 unable to maintain properly,  he pointed  out.  In
 response, Mr. Suagee commented that progress is
 being made in implementing the basic policy of tribal
 self-sufficiency.

 Mr. Smith asked how IHS coordinates with other
 government agencies in the development of tribal
 solid waste and water programs.   Mr. Rathsam
 responded that  he does not address those issues.
 Ms.  Jennifer  Hill-Kelley,  Environmental  Quality
 Director, Environmental Health and Safety Program,
 Oneida Nation, then explained that agencies do not
 get involved unless a  specific issue  related to
 developmentfalls undertheir respective jurisdictions.
 Mr. Goldtooth commented that Mr. Smith's question
was important,  especially with respect  to  the
 interagency memorandum of  understanding,  and
 suggested that the question be flagged for Mr. Gogal
to address.
 Ms. Hill-Kelley asked from what sources IHS gathers
 the data necessary to track environmental health in
 Indian  country.   Mr.  Rathsam  explained that
 obtaining  accurate  data  is  a special problem
 because  many  individuals  among the  Indian
 population are born and raised on the reservation,
 but  move  off the  reservation  in  adulthood.
 Therefore, cradle-to-grave  health data in Indian
 country is often skewed, he pointed out. A program
 called  Epicenter, based in Portland, Oregon, he
 commented, is trying to fill the data gaps by working
 with hospitals to collect health data on American
 Indians that no longer live on reservations.  Further,
 the data is usually three years old before IHS obtains
 it. IHS, therefore, is working with local communities
 to gather data on their own respective populations,
 he continued.

 Ms. Daphne Moffet, Agency for Toxic Substances
 and Disease Registry (ATSDR), inquired about the
 administrative level within IHS at which Mr. Rathsam
 works. Mr. Rathsam responded that he works at the
 district level, and that his position combines general
 administrative  responsibilities with services to
 community populations.

 Mr.  Paul Matthai,   Environmental  Protection
 Specialist, EPA Pollution Prevention Division, Office
 of Prevention,  Pesticides,  and Toxic Substances
 (OPPTS),  discussed  the  authority to   protect
 environmental health under various environmental
 laws.    Mr. Matthai  explained that each  act of
 Congress grants specific  authority to address
 specific matters of  environmental  health.  For
 example, the Toxic Substances Control Act (TSCA)
 provides the authority to regulate a toxic chemical in
 commerce, but not in a  specific product, he
 explained.  The problem of regulatory authority is
 compounded  further because authority in areas
 under tribal jurisdiction is unclear.

 Mr. Matthai also discussed EPA's agency-wide PBT
 Chemicals Initiative.   He explained that  EPA is
 developing a new approach to reduce risks from and
 exposures  to  priority PBT  chemicals  through
 increased coordination among EPA's national and
 regional programs.

The PBT Initiative, Mr. Matthai continued, had been
 established to overcome the remaining challenges in
 addressing priority PBT pollutants. He then informed
the members  of the subcommittee that  EPA is
committing, through this program, to create a cross-
office system  that will address cross-media issues
 related to priority PBT pollutants.  Mr. Matthai then
 highlighted several of the goals of the PBT Initiative:
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 Nations! Environmental Justice Advisory Council
                  Indigenous Peoples Subcommittee
 •   Prevent  new  PBT chemicals from  entering
    commerce.

 •   Identify and reduce risks to human health and
    the  environment  from current  and  future
    exposures to priority PBT pollutants.

 •   Stop  the transfer of PBT pollutants across
    environmental media.

 The initiative, Mr. Matthai also explained, will provide
 staff of EPA to the World Health Organization for the
 global phase out of dichlorodiphenyltrichloroethane
 (DDT) and will add PBTs to  the Toxic  Release
 Inventory (TRI) data  base and  lower reporting
 thresholds.

 Continuing the discussion on environmental health in
 Indian country,  Ms. Moffet then discussed four
 specific environmental health  concerns in Indian
 country from  the perspective of ATSDR:   (1)
 interpretation of authority delegated by Congress; (2)
 research  needs and  the state of environmental
 health; (3) programs in Alaska and Hawaii; (4) and
 interagency agreements  between IHS and the
 Center for Disease Control and Prevention (CDCP).
 She  explained that ATSDR  has responded  to
 research  needs in Indian country by organizing
 information in a central website data base to provide
 a   research  base.    Currently,  there  are no
 environmental health programs in Hawaii; for native
 populations, she said, and the only native health care
 programs in Alaska are associated with formerly
 used  defense sites (FUDS).  Finally, she said, IHS
 and CDCP have an interagency agreement, noting
 that Mr.  Tom Crow,. Chief Environmental Health
 Services Branch, IHS, is the point of contact.

 Mr. Moses Squeochs, Confederated  Tribes and
 Bands of Yakama Nation, then asked for the specific
 charge of authorityforagencies with regard to tribes.
 He stated that ATSDR becomes involved in issues
 related to the  provisions of the  Comprehensive
 Environmental  Response,  Compensation,  and
 Liability Act (CERCLA). However, he asked, what is
 the full line of authority to act on behalf of the over
 560 tribes and  tribal variations recognized by the
 Federal government. Mr. Squeochs stated that he
 can cite the responsibilities of all the agencies but
 not the full authority of any  agency to fulfill  such
 responsibilities.

 Mr. Goldtooth stated that, in general, native people
 living  in  communities  report high cancer rates.
 However,  he continued, tribal people bear the
 burden of proof with regard to environmental health
 problems and the people become frustrated because
they do not have the resources to gather data. Mr.
 Rathsam responded that the mission of IHS is to
 extend life as long as possible, noting as well that
 there  is  a question of what indicators of health
 should be used in assessment of effects on tribal
 communities. Ms. Jana Walker, Law Office of Jana
 L.  Walker,  then  asked  whether  statistics  are
 available at the community level. Mr. Rathsam said
 neither names nor individual case data are available;
 however, statistics on communities are available, he
 added.

 Mr.  Dean Seneca, Health  Program  Specialist,
 CDCP, discussed environmental  health from the
 perspective of the CDCP.  Mr. Seneca suggested
 that the CDCP should empower tribal communities
 to facilitate the protection of environmental health.
 He said he would like all Federal agencies involved
 to identify to the public the  problems  they have
 dealing with environmental health in Indian country.
 Further,  he would like to see tribal  communities
 define the specific environmental health problems
 they wish to have addressed.  He then  said many
 people are not trained to deal with interactions
 between  tribal communities and Federal agencies.
 He suggested that tribal communities and Federal
 agencies should  hold  community  meetings  to
 develop consultation practices and to work together
 to define research needs.  Continuing, Mr. Seneca
 stated his belief that it is of utmost importance that
 tribes monitor their own environment, reforesting,
 and acculturation. Federal agencies, he said, should
 work harder to fulfil their obligations in the  area of
 environmental health.  He described Alaskan tribal
 programs as  successful examples that should  be
 replicated in the lower 48 states. Last, Mr. Seneca
 declared  that all environmental health data should be
 shared with  tribes, data  collection should  be
 executed by the tribes, and health research should
 be authorized by tribes before such research begins.
 Mr,  Goldtooth expressed  agreement   with  Mr.
 Seneca's view that it is beneficial when researchers
 work  with tribes  before  working  with  Federal
 agencies.

 Ms. Sarah James,  Council of Athabascan Tribal
 Government, responded to a portion of Mr. Seneca's
 remarks  by describing her experience in collecting
 community health data. Ms. James said that tribal
 people are not credited for their research.  Often,
 she said, tribal members collect data and perform
 data coding for agencies, but the agencies receive
 credit forthe research effort. Funding then is allotted
to the agency credited with the research rather than
the tribe that performed the research effort, she said.
 She added that she would like to know who reviews
the work  and delegates the money.
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In  response,   Mr.  Rathsam  asked,  "What  is
environmental  health?"    IHS  attempts  to  be
comprehensive in identification and anticipation of
deficiencies in its services that could be detrimental
to environmental health, he said.  However, he
pointed out that IHS has a limited budget, and, as a
result, the available expertise is  underused.  He
suggested  that   agencies   concentrate  on
sustainability and develop a protocol  for health
assessment in  Indian country.  Mr.  Squeochs
commented  that  providing  funds  is  a  trust
responsibility of the Federal government and that
IHS should push the trust  responsibility in its
requests for funds.

Mr.  Roy  Miller,  Program Manager,  Uniformed
Services  University of  Health  Sciences,  U.S.
Department of  Defense  (DoD), discussed the
environmental health policy study that IHS conducted
which confirmed a desirability and opportunities for
greater collaboration among Federal agencies on
environmental health assistance to tribes. Mr.  Miller
explained that he worked with Mr. Crow to define the
policy and prioritize a program to  provide this
assistance to tribes.  He stated that environmental
health is a very broad subject.  In sum, he  said,
environmental health is anything that affects human
health.  Responsibility  for environmental health is
distributed among  a  number of agencies,  he
continued, and  each agency has policy  priorities in
allocating resources.   Focusing resources solely
within an agency leaves gaps in the  broad IHS
program, rendering some projects unsustainable, he
said.  First and foremost, therefore,  IHS  must
facilitate relationships between government agencies
that will  facilitate the  focusing  of  resources on
sustainable environmental health, he said.

Currently, there is no comprehensive program that
covers environmental health, said Mr.  Miller.  He
suggested that  agencies adopt common standards
and criteria.  He also suggested that all agencies
evaluate their respective policies. Policy, he said, is
the sum of an agency's actions, rather than what is
written  on paper.   Continuing,  he stated that
agencies must come to collaborative agreements to
facilitate a comprehensive  Indian environmental
health program. He suggested that all the agencies
come together at a summit meeting to create such a
program.

In conclusion, Mr. Miller informed the members of
the  subcommittee  of  the Federal Interagency
Environmental  Justice Pilot 2000 Proposal.  He
described the proposal as a postgraduate  training
program for American Indians, Alaska natives, and
other minorities to gain practical experience with a
number of agencies. The purpose of the program is
 to afford selected individuals the opportunity to learn
 the processes  of  various  organizations and to
 facilitate relationships, said Mr. Miller. Mr. Goldtooth
 suggested that the  project should  be open to all
 minorities.

 3.2 Presentation   on  Persistent   Organic
     Pollutants and Persistent Bioaccumulative
     Toxins

 Dr. Sterling Gologergen, POPs Organizerfor Alaska,
 Alaska Community Action on Toxics,  IEN, began
 discussions of the effects of POPs on Arctic  and
 Alaska  Native  communities  that   pursue  a
 subsistence  lifestyle.   Exhibit  6-2  provides  a
 description of POPs.  POPs bioaccumulate in the
 Arctic and Alaska, she said.  The environmental
                                      Exhibit 6-2
      PERSISTENT ORGANIC POLLUTANTS

  Persistent organic pollutants (POP) are highly stable
  chemicals used as pesticides. POPs also are
  generated unintentionally as byproducts of
  combustion and industrial processes. In addition,
  POPs chemicals are toxic, usually persistent, and are
  capable of being transported long distances through
  the environment, where they bioaccumulate in fatty
  tissue and can pose risks to humans and wildlife.
  Levels of these pollutants are particularly high in
  human and wildlife populations that reside in the
  Arctic.
 health effects are compounded in Alaska and the
'Arctic because native peoples and tribes  subsist
 upon land and sea resources that are contaminated
 with POPs. In particular, she said, an island off the
 coast of Alaska, on which Dr. Gologergen and her
 people live and depend for subsistence, is at risk of
 POP bioaccumulation resulting from contamination
 at a former military site.  She cited the example of
 the  whaling industry's effect on her island  as a
 precursor to today's problem. Since the advent of
 the whaling industry in the vicinity of her island, the
 whale population has decreased from 16,000 to
 fewer than 1,500, she explained. In her community,
 she continued,  the whaling season during spring
 time is the time of acculturation and value-learning
 passed from the old to the young.  The loss of the
 whales inhibits the continued cultural practice, yet
 the state of Alaska shows no sympathy for their tribal
 interest.   Similarly,  it appears that the  Federal
 government has done no research on the effects of
 POPs on native peoples during the 50 years the
 army  base  has been unused.   Dr.  Gologergen
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 National Environmental Justice Advisory Council
                  Indigenous Peoples Subcommittee
 explained that hertribe does not have the knowledge
 or the capacity to research the environmental health
 problem.  Her tribe has a great fear of the invisible
 and odorless POPs, she said, and has been working
 with  the  Alaskan   Native   Tribal  Leadership
 Organization to resolve the problem. However, after
 50 years, the community should not find itself still
 begging for help.

 Mr. Goldtooth then mentioned the unreleased Draft
 Dioxin  Assessment  Report  prepared  by  EPA.
 Although most tribal  leaders do  not have enough
 information about the subject,  dioxin is  a major
 issue, said Mr. Goldtooth. He then mentioned the
 crucial  issue of the elimination of dioxin  in the
 negotiation of the Global Treaty Against POPs,
 which calls for reduction and elimination of POPs,
 during his  introduction of Dr. Pat Costner, Senior
 Scientist, GreenPeace International.

 Dr. Costner's presentation included an explanation
 of the "grasshopper effect."  She explained that the
 "grasshopper effect" refers to the bioaccumulation of
 POPs toward cooler climates; when  POPs are
 released into the environment they migrate, because
 of  their chemical  properties, to cooler climates.
 POPs also  are poorly soluble and accumulate in the
 fat of human and animal tissue, she said.  In a
 contaminated area, concentrations of POPs in the
 water supply can- be  almost undetectable, but,  as
 one measures concentrations upward along the food
 web,  the concentrations  increase, explained Dr.
 Costner. For example, she said, concentrations are
 25,000  times higher in  birds than in water in a
 contaminated area.  Dioxin levels are five times
 higher in farmyard chickens than in industrial chicken
 houses.  Further, she said, people living at lower
 economic levels subsist on wildlife; therefore, they
 are much more likely to be affected by contamination
 than more well-to-do groups. The human species is
 at the top of the food chain, and people living in the
 Arctic are at the apex of the grasshopper effect, she
 continued.

 Dr. Costner identified a  short list of POPs first
 targeted in  the negotiation of the global treaty that
 will eliminate the continued production of POPs. She
 then asked, "How do they affect us?" She explained
 that the incidence of POP contamination peaked in
 the 1970s and that breast milk contains the highest
 rate of contamination. Contamination suppresses
 development  and impedes  the  immune  and
 reproduction systems. A major problem in defining
the effects of POPs, continued Dr. Costner, is that
there are no uncontaminated populations to be used
 in qualifying the health effects on contaminated
 populations.   She  stated  that,  lexicologically
 speaking,  there  is no  greater  problem in the
 environment than POPs.  However, she pointed out,
 15 countries,  including  the  United  States, are
 opposed  to the elimination of dioxins under the
 global treaty currently being negotiated; the current
 global  treaty  calls  for  the  elimination  of
 polychlorinated   biphenyls   (PCB)   and
 hexabutylchloride only. Dr. Costner stated her belief
 that the latest direction taken by the United States
 bodes  a  bleak  fate for tribes  in  the  Arctic.
 Responding, Mr. Goldtooth stated  that the U.S.
 Department of State takes its technical lead from
 EPA and that ratification of the current global treaty
 would reflect EPA's position on the issue.

     4.0  PRESENTATIONS AND REPORTS

 This section summarizes the presentations made
 and reports submitted to the Indigenous Peoples
 Subcommittee.

 4.1 Summary of the Videotape "The Forgotten
    America - Alaska's Rural Sanitation Problem"

 Members of the subcommittee viewed the videotape
 'The Forgotten America - Alaska's Rural Sanitation
 Problem,"  which  portrayed the current state of
 sanitary facilities in many  Alaskan villages, many of
 which lack such facilities. Fifty percent of all villagers
 take water from a  public source  and bathe in  a
 community bath house. The Chevak villagers collect
 human waste in buckets and carry the waste to an
 open-air  public lagoon,  where  it  is  dumped.
 Fourteen percent of villages use a system by which
 a f ou r-wheel all-terrain vehicle (ATV) hauls the waste
 to a public lagoon.  In both systems, the waste is
 carried in open-air containers through the community
 and often spills on community grounds.  The public
 water source is often contaminated by human waste
 left untreated in the waste lagoons.

 The Rural Alaskan Sanitation Task Force produced
 a Gray Book that set forth 60 recommendations for
 long-term  solutions to the sanitation problems.
 Alaskan villagers are calling for coordinated efforts
 from  local,  state,  and  Federal governments  to
 improve current conditions. Currently, the state is
 responsible for the design of proper facilities, and
 communities are responsible for  maintenance of
those facilities. The video depicted the success
 story of a village that sustained its sanitation system
through a one-percent sales tax and a small house
fee; however, most villages cannot afford even that
small cost. Communities need subsidies to maintain
their sanitation systems.  The cost  of  treating
epidemics stemming from poor sanitation is more
expensive than that of developing  and subsidizing
sanitation systems.  The  video concludes with the
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Indigenous Peoples Subcommittee
                                                      National Environmental Justice Advisory Council
question: Is solving the problem worth the cost of
subsidies?

4.2 Presentation  on  the  Proposed  Gregory
    Canyon Landfill

Mr. Henry Rodriguez, President, Native American
Environmental Protection Coalition, discussed the
proposed Gregory Canyon Landfill to be built directly
over the Pala Indian Reservation's water supply
aquifer in California.  Approximately 4,500  Pala
Indians live on the reservation. The landfill would
have  a direct effect on Medicine  Rock  and a
pictograph site used in coming-of-age ceremonies
held sacred  by  the Pala Indians.   Further, he
continued, the Pala Indians fear the landfill could
destroy threatened  and endangered species known
to inhabit the area. Mr. Rodriguez stated that EPA
has a responsibility to prevent the construction of the
landfill.  In conclusion, Mr. Rodriguez asked for the
help and intervention of the members  of  the
subcommittee.

Mr. Goldtooth responded that he had informed the
members  of the  Waste  and  Facility  Siting
Subcommittee of the matter and asked that he be
provided updates as events unfold.  Mr. Seneca
asked whether the  landfill would be sited on private
or public land; Mr. Rodriguez responded that the site
is private land. Ms. Hill-Kelleysaid a permit must be
obtained from the  U.S. Army Corps of Engineers
(USACE) before construction of a landfill on private
land; the project therefore would fall under Federal
jurisdiction, she observed.

4.3 Public   Utility  . Activities   of  the .  U.S.
    Environmental Protection Agency Region 10
    in Rural Alaskan Villages

Ms. Jill Nogi, Environmental  Protection Specialist,
EPA Region 10,  discussed  drinking water  and
wastewater needs  in Alaskan Villages.  Under the
1996 amendments to the Safe Drinking Water Act
(SDWA),  the  state of  Alaska is  assessing
approximately 1,700 public water systems and then
will provide that information  to the public  about
contaminants that may threaten the drinking water
supply,  she  reported.   However,  the state is
assessing only Class A and Class B sources; Native
Villages are not  included, she said.  Further, the
provisions  of SDWA  are   applicable only to
hydrogeologic or man-made  public water supplies
used by more than 25 people. The program review
began as a vulnerability study that  revealed a large
data gap and lack of consistent sources, continued
Ms. Nogi. The problem is now becoming a right-to-
know issue because the quality  of the water is
unknown.  Ms.  Nogi stated that  she had begun
gathering  data from  surveys  in  pilot  villages,
including Eek in southern Alaska, Shishmaref on a
barrier island, and Tanana in interior Alaska. The
objective of her research,  said Ms. Nogi,  is to
develop a statewide survey representative of all
Native populations and to empower villages to make
educated decisions about the development of public
utilities. She added that the next phase of her
research is  to  hold community workshops  and
develop educational  materials.

Ms. James expressed agreement  that explaining
scientific messages to tribal people is difficult. She
said  the difficulty lies in  the failure of non-tribal
government workers to understand  traditional tribal
ways. Ideally, she added, villagers should be trained
to do the research in the spirit of self-determination.

Mr. Seneca said he had visited Shishmaref; he then
asked   about  the   Agency's  suggestions   for
remediation.  Ms.  Nogi replied that EPA is not yet
ready to make suggestions. She added that the only
solution now available is to close contaminated water
sources.  Mr. Seneca replied that villagers  need
water sources for many uses beyond drinking water.
Closing contaminated water sources, he added, is a
"temporary fix" from the perspective of  the CDCP.
He then  asked  for  recommendations for  a
permanent solution. Again, Ms. Nogi responded that
the EPA currently does not have recommendations.
However, she said, from the perspective of EPA, the
safest solution  would be to build  public water
supplies and  sanitary  systems   that  can  be
monitored.    She said  the difficulty  in  making
recommendations is that  the  research  she  had
discussed is the first study of traditional sources of
water.

4.4 Nuclear Risk Management Native  Program —
    Radiation Exposure of Shoshone People

Mr.  Ian Zabarte, Western Shoshone  National
Council, Nevada, Nuclear Risk Management Native
Program, discussed the programs'  research on the
effects of  exposure to radiation on the  Western
Shoshone people. Mr. Zabarte first stated the 1863
treaty  between the Western  Shoshone  and  the
United  States   has  been   violated  by  the
establishment of the Nevada Nuclear Test Site. The
U.S. Department  of Energy (DOE) conducted a
cultural resource  study through which the native
peoples were forced into "cultural triage," declared
Zabarte. Further, he added, the data in  the DOE
dose  reconstruction study are  incomplete.   Mr.
Zabarte stated only limited historical data  was
available, the data were insufficient, estimated doses
for Native Americans were inaccurate and low, and
the study limited models of lifestyles and pathways.
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                  Indigenous Peoples Subcommittee
 Exhibit 6-3 identifies the limitations of the DOE study.
 Tribal members had taken researchers hunting to
 show them  how they  used  animals for both
 subsistence and for cultural artifacts that were not
 considered.    Researchers  appeared  culturally
 insensitive by considering people to be subjects of
 the study, failing to ask permission, and failing to
 communicate openly, he charged.  He added that
 IHS had been informed that no off-site releases had
 taken place.  Mr. Zabarte stated that he would like
 EPA  to approach the Western Shoshone National
 Council to provide guidance in dealing with nuclear
 fallout and to empower and train tribal members in
 research methods.

                                     Exhibit 6-3
   U.S. DEPARTMENT OF ENERGY NUCLEAR
         FALLOUT STUDY DATA GAPS

  Limited Historical Data
  •  Only 111 of the 220 U.S. atmospheric tests from
     1951 through 1963 were monitored off-site.

  •  Complete monitoring data were recorded for only
     77 of the events.

  •  Complete fallout patterns and data time travel of
     fallout were recorded for only 55.

  •  Research on underground tests that leaked
     radiation into the atmosphere was not completed.

  Insufficient Data
  •  Direct measurements did not monitor all areas
     adequately.

  •  Estimates were made to compensate for limited
     data.

  •  Estimated doses are comparable only from town
     to town.

  Limited Models of Lifestyle and Pathway
  •  The Native American lifestyle was not identified
     as it exists.

  •  A "shepherd lifestyle" was used in place of the
     traditional lifestyle.
Mr. Goldtooth asked how many research staff were
working with Mr. Zabarte.  Mr.  Zabarte responded
that four staff members were involved: two Western
Shoshone and two Western Piaute. Mr. Running
Grass, Environmental Protection Specialist,  EPA
Region 9, asked what type of assistance Mr. Zabarte
needs from EPA. Mr. Zabarte asked that a line of
 communication be established between EPA and the
 Western Shoshone Nation. The two organizations,
 he stated, must define the group affected and define
 why there is conflict between his culture  and the
 purposes and operations of the facility. Further, EPA
 should communicate with the appropriate authorities
 to help the Western Shoshone Nation.

 4.5 Effects  of  Navy Bombing  Range  on the
    Wampanoag  Tribe,  Nomans   Island,
    Massachusetts

 Ms. Beverly Wright, Chairperson, Wampanoag Tribe
 of Gay Head Aquinnah, and Mr. Jeff Day, Ranger,
 Natural Resources, Wampanoag Tribe of Gay Head
 Aquinnah, discussed the effects on the Wampanoag
 Tribe of test bombing by the U.S. Department of
 Navy  (Navy)  at  Nomans  Island,  located in
 Weymouth, Massachusetts. Ms. Wright described
 the cultural background of the Tribe of Gay  Head
 Aquinnah and explained that the tribe manages a
 500-acre  Federally recognized reservation  near
 Nomans Island.  In particular,  she described her
 people as  a fishing tribe who  maintain a natural
 strand of cranberries integral to their culture. In
 conclusion, she stated that her cultural heritage is
 tied to Nomans Island.

 Mr. Day then explained that the Navy had bombed
 Nomans Island  during the years from the  early
 1940s through 1996.   He then  explained that the
 town  of Aquinnah has a cancer rate that is 93
 percent higher than rates in the rest of the state. He
 identified an inadequate environmental assessment
 as  a  major factor causing the  health  problem
 because shellfish had not been tested for residual
 contamination levels. Continuing, Mr. Day explained
 that the prevailing winds blow directly across the
 island  to Aquinnah.    Further,  he  pointed to an
 inadequate  surface  clean  up  of   unexploded
 ordnance (UXO) left on the island as another major
 factor causing the environmental health problem.
 Mr. Day said that Federal authorities will not clean
 the area  because the  island  is a  habitat of
 threatened and endangered species.  Finally, Mr.
 Day claimed the burden is on the tribe to prove that
 the island is contaminated.

 Mr. Goldtooth asked Mr. Day whether any evidence
 existed that the Navy had used depleted uranium
 (DU). Mr. Day responded that such evidence does
 exist,  but  the Navy has denied using DU.   Mr.
 Goldtooth then said that remediation of DU is still the
 subject of research; however, he said, there  is a
 network that maintains health data. Mr. Goldtooth
then said he would contact Mr.  Willie Taylor, U.S.
 Department of the Interior (DOI), to discuss the
 matter. Mr. Day then asked that the members of the
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subcommittee support the resolution the tribe would
submit to the NEJAC. Exhibit 6-4 provides highlights
of the tribe's resolution.  Mr. Goldtooth asked that
copies of the resolution  be shared and  discussed
with members of the other subcommittees.

                                     Exhibit 6-4
  HIGHLIGHTS OF THE WAMPANOAG TRIBE
                RESOLUTION

 The following lists of major requests by the
 Wampanoag Tribe of Gay Head Aquinnah:

 •   Center for Disease Control and Prevention-
     supported cancer study.

 •   Study offish contamination and consumption.

 *   Nomination of the site under the Comprehensive,
     Environmental Response, Compensation, and
     Liability Act.

 •   Enforcement of the Clean Water and Clean Air
     acts.

 •   Protection of historical and cultural resources.

 •   Public involvement.
        5.0  RECOMMENDATIONS ON
   ENVIRONMENTAL RESEARCH NEEDS IN
              INDIAN COUNTRY

The  NEJAC, in its continuing efforts to provide
independent advice to the  EPA Administrator on
areas related to environmental justice, focused its
fifteenth  meeting  on a  specific  policy issue -
community-based environmental health.  For that
effort,  members  of the   Indigenous  Peoples
Subcommittee    discussed   at  length
recommendations  to   EPA  on   identifying
environmental health research needs in   Indian
country.     The  following   list  outlines  the
recommendations.

Environmental  Health   Research  Needs  for
Infrastructure

•   Deficiencies   are   due   primarily  to  the
    inadequacies of funding and technical expertise
    to  design,   develop,   and   implement
    environmental  health research programs for
    Indian  country and, therefore, the  Federal
    government should fund and meet these needs
    fully.
•   These  issues  need to  be addressed in a
    proposed Indian Work Group Roundtable on
    Environmental Justice in Indian Country.

•   There needs to be a financing mechanism to
    fund  the infrastructure  of  the environmental
    health research project.

•   Support innovative and sustainable technologies
    within Indian country (such as, waterless toilets,
    solar  energy  systems,  and   constructed
    wetlands).

•   Need to ensure through funding and technical
    assistance the appropriate design and operation
    of sanitation facilities.

Environmental Health Research and Data Related to
Indian Country

•   Involve  the  tribal community  in designing,
    planning,  and   implementing  culturally
    appropriate environmental health research.

•   Ensure that research data is reported  back to
    the tribal community  promptly and in a  manner
    understandable to the tribal community.

•   Incorporate  training  into each environmental
    health   research  project  so   that,  upon
    completion, trained personnel will remain in the
    tribal community to continue long term efforts
    related  to  promoting  and  monitoring   the
    environmental  health   of  the  community
    members.

•   Preserve confidentiality of the individuals who
    contributed to the data, protect the data from
    Freedom of Information Act (FOIA) requests to
    the greatest extent permitted under Federal law,
    and  ensure   that  the  tribal  community
    understands that  some  data  may  be made
    public.

    Identify the benefit of the research to the tribe
    before, during,  and after the completion of the
    environmental health research.

•   Ensure that researchers obtain  all approvals
    from the tribe, or its delegated review board,
    before conducting research.

•   Conduct  an  assessment to  address  and
    evaluate  the lack of baseline environmental
    health data.

•   IHS annual data on health status needs to be
    made available to each tribe.
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 •   IHS needs to retain and store data by each tribe.

 Interagency Collaboration and Coordination

 •   Ensure agency  services by IHS; Bureau of
     Indian Affairs (BIA); DOI; and EPA are provided
     equally and consistently to tribes.

 •   Federal agencies need to be more proactive in
     helping tribes identify resources (financial and
     technical) within all Federal agencies to address
     their concern or need.

 •   In consultation with tribes, develop an integrated
     Federal interagency, comprehensive, funded
     program  on environmental  health  that  will
     address fully the environmental justice needs in
     Indian country.

 Training and Education on Environmental Health

 •   Ensure that EPA staff and management have a
    thorough   understanding   of  the   unique
     governmental structures of the Alaska Native
    Tribes, especially those who are working on
    Alaska Native issues.

 •   Mitigate the effects  of human exposures to
    POPs and PBTs.
 6.0 RESOLUTION AND SIGNIFICANT ACTION
                    ITEMS

This section summarizes the resolution forwarded to
the  Executive  Council  of  the  NEJAC   for
consideration  and  the significant action items
adopted by the Indigenous Peoples Subcommittee.

The members discussed a resolution in which the
NEJAC recommends to the EPA Administrator that
EPA address environmental justice issues related to
POPs in Indian country.
 The members of the subcommittee also adopted the
 following action items.

 t/'  Agreed to coordinate with the Waste and Facility
    Siting Subcommittee efforts to respond to the
    request of Mr. Rodriguez for intervention by the
    NEJAC  to  prevent the construction of  the
    proposed Gregory Canyon Landfill.

 /  Agreed to develop a resolution addressing the
    concerns of the Wampanoag Tribe of Gay Head
    Aquinnah   related   to   remediation   of
    contamination   at   Norman's  Island,
    Massachusetts.

 y  Submitted for the review and comment of  all
    members of the NEJAC a "revised draft" of the
    Indigenous  Peoples Subcommittee's guide on
    consultation and public participation; comments
    are due  August  15.   A final draft is to be
    submitted to the Executive Council for approval
    before the  December  2000 meeting of the
    NEJAC.

 i/  Coordinate   with  the  members  of  the
    International Subcommittee arrangements  to
    convene a round table meeting to discuss tribal
    issues along the  borders of the United States
    with both  Mexico and Canada.

 
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                     MEETING SUMMARY
                           of the
               INTERNATIONAL SUBCOMMITTEE
                           of the
     NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                        May 25, 2000
                     ATLANTA, GEORGIA
     Meeting Summary Accepted By:
Wendy Graham
Office of International Activities
U.S. Environmental Protection Agency
Designated Federal Official
Arnoldo Garcia
Chair

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                                      CHAPTER SEVEN
                                      MEETING OF THE
                              INTERNATIONAL SUBCOMMITTEE
             1.0  INTRODUCTION

The International  Subcommittee  of the National
Environmental Justice Advisory Council (NEJAC)
conducted a one-day meeting on Thursday, May 25,
2000 during a four-day meeting  of the NEJAC in
Atlanta, Georgia. Mr. Arnoldo Garcia, Development
Director, Urban Habitat Program, continues to serve
as chair of the subcommittee. Ms. Wendy Graham,
Office  of  International  Activities  (OIA),  U.S.
Environmental Protection Agency (EPA), continues
to serve as the Designated Federal Official (DFO) for
the subcommittee. Exhibit 7-1 presents a list of the
members who attended the meeting and identifies
those members who were unable to attend.

This chapter,  which provides a  summary of the
deliberations of the International Subcommittee, is
organized in six sections, including this Introduction.
Section 2.0, Remarks, summarizes the opening
remarks of the chair.  Section 3.0, Activities of the
Subcommittee, summarizes the discussions about
the activities of the subcommittee,  including updates
on the  accomplishments of the subcommittee and
the  subcommittee's South Africa Work  Group.
Section 4.0, Presentations and Reports, presents an
overview of each presentation and report, as well as
a summary of relevant questions and comments
from the subcommittee. Section 5.0, Dialogue with
the  South  African Delegation,  summarizes  the
discussions   between   the  members  of  the
subcommittee and the delegates from South Africa.
Section 6.0, Significant Action Items, summarizes
the action items adopted by the members of the
subcommittee.

               2.0 REMARKS

Mr. Garcia opened the subcommittee  meeting by
welcoming the members present and Ms. Graham.
He  then  asked  the   participants  to introduce
themselves and identify their organizations.   Mr.
Garcia  then commented that, while  he realized
people  might  be interested in  attending other
subcommittee sessions, participants should  remain
at the present meeting as long as possible.  With a
full list of issues on the agenda, he said, he believed
that the meeting of the International Subcommittee
would be productive and informative.
                                                                                    Exhibit 7-1
      INTERNATIONAL SUBCOMMITTEE

                  Members
           Who Attended the Meeting
                May 25, 2000

           Mr. Arnoldo Garcia, Chair
           Ms. Wendy Graham, DFO

           Ms. Maria del Carmen Libran
             Mr. Fernando Cuevas
               Ms. Beth Hailstock
             Mr. Alberto Salamando
               Mr. Tseming Yang

                  Members
             Who Did Not Attend

              Mr. Albert P. Adams
               Mr. Robert Homes
             Ms. Caroline Hotaling
   3.0  ACTIVITIES OF THE SUBCOMMITTEE

This section  provides  an  update on followup
activities of the  subcommittee  related to  the
Roundtable on Environmental Justice on the U.S.-
Mexico Border and a reportf rom the subcommittee's
South Africa Work Group.

3.1 Updates   on   the   Roundtable   on
    Environmental Justice on the U.S.-Mexico
    Border

Mr. Garcia opened the discussion by explaining that
members   of  the  International   Subcommittee
continue to work with EPA to develop strategies for
the implementation of and followup on, many of the
recommendations made to EPA by stakeholders and
constituent  participants  at  the  Roundtable on
Environmental Justice on the  U.S.-Mexico Border,
sponsored  by  EPA  and   the  International
Subcommittee of the NEJAC, held  in August 1999,
in National City, California.  He also explained that a
report on the roundtable meeting should be available
later this year.  He stated that many questions
remain unanswered. He announced that he planned
to  have a conference call with Mr.  Charles  Lee,
Associate  Director for Policy  and  Interagency
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International Subcommittee
     National Environmental Justice Advisory Council
Liaison, Office of Environmental Justice (OEJ), EPA
Office of Enforcement and Compliance Assurance
(OECA),  to discuss  the  formation of a border
commission.

Mr. Garcia stated thatthe subcommittee categorized
the recommendations into short-, medium-, and
long-term goals and  that  EPA had responded to
more than 40 of the 100 recommendations within 30
days after the roundtable meeting and continues to
work  on the  more  complex recommendations,
several  of  which involve  negotiations  with  the
government of Mexico. Subcommittee members
and  environmental justice representatives have
worked closely with EPA, he continued, invoking the
concerns of the environmental justice community
and offering comments in the early developmental
stages of new work plans, projects, and policies that
address recommendations set forth  during  the
roundtable meeting.

Mr.  Alan  Hecht,  Principal  Deputy Assistant
Administrator,  EPA  OIA,  then commented that
December 2000 through July 2001 will be a learning
period for the new administration and that, by July
2001, EPA will meet with the Agency's new Mexican
counterparts for a meeting to discuss the new border
plan.  The new border plan, he continued, might be
available in 2002. Mr. Hecht said that one of the
challenges will be how to generate interest in various
work groups and how to support citizen participation
at all levels.

Mr.  Garcia added   that  the  effort  faces two
challenges: (1) to address existing grievances and
(2) to become involved in available networks.  Mr.
Hecht responded that the task has two parts: (1) the
legacy issue of neglect and (2) the doubling of the
population over time.  Therefore,  it is difficult, he
said, to determine what the circumstances will be in
the future.  The new border plan, he continued,
should have two parts: (1) the legacy plan and (2)
the plan for the future.   Communities still want
representation in the same way, so the emphasis on
the  need  for general engagement  should be
retained, Mr. Hecht added. In addition, he urged the
members  of the subcommittee  to  encourage
communities to help EPA develop a vision of what
the  community  wants.    Political support  for
addressing the border issues is weak, he observed.
He encouraged the members of the International
Subcommittee to promote more interaction across
the border.   Mr.  Hecht also commented that a
number of  companies in the private sector are
interested in becoming involved in the effort.
3.2 Update on the South Africa Work Group

The report on South Africa submitted by Dr. Mildred
McClain,  Executive  Director,   Citizens  for
Environmental Justice and former member of the
International Subcommittee of the NEJAC, in August
1998 had  been adopted as the work plan  of the
South  Africa  Work  Group  (SAWG)  of  the
International  Subcommittee.   Currently, EPA is
implementing the recommendation of the SAWG
that an effort be made to "link environmental justice
groups in the U.S. with South Africa groups who are
addressing similar issues," she said.

In May 2000,  Dr. McClain announced that EPA
hosted delegates representing the South  African
environmental justice community at an intensive
program in the southeastern  United States. She
explained that the delegates spent approximately 10
days visiting communities that face environmental
justice  challenges similar to those encountered by
communities in South Africa.  Representatives of
environmental   justice  communities,  including
delegates from the SAWG, spent countless hours
working with EPA to prepare for the visit, she noted.
A one-day "lessons  learned"  session covered the
experiences  of communities in the United States,
discussions of goals that remain to be achieved, and
a review of the history of the  NEJAC, Dr. McClain
continued. In addition, Dr. McClain stated that the
delegates would  be participating in this meeting of
the NEJAC,  meeting experts and activists from
around the country.  The delegates from  South
Africa  also  participated   in the  meeting  of the
International  Subcommittee  on  May  25,  2000.
Section 5.0 provides a summary of the dialogue
between the members of the subcommittee and the
delegates from South Africa.

Dr. McClain then asked the members  of the
International Subcommittee and South Africa Work
Group  to  consider  whether  the subcommittee's
South Africa Work Group, whose mandate ends in
September 2000, should continue to focus on South
Africa or should broaden its focus to all of Africa.

    4.0  PRESENTATIONS AND REPORTS

This section  summarizes  the presentations made
and reports  submitted   to  the  International
Subcommittee.   The International Subcommittee
heard presentations and  reports on the following
topics:  improving the health  of farm workers; the
success story of Barrio Logan, San Diego, California;
Lake Apopka,  Florida and farm  worker health;
initiatives  undertaken  by the   EPA  Office  of
Prevention,  Pesticides,  and  Toxic Substances
(OPPTS);  an update on activities of the EPA San
Diego Border Liaison Office; a report by EPA Region
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 National Environmental Justice Advisory Council
                        International Subcommittee
 10  on the  effects  of  farm  worker  protection
 standards; the work of EPA OIA.

 4.1  Presentations  on    Public   Health   and
     Exposure to Pesticides

 The NEJAC, in  its continuing efforts  to  provide
 independent advice to the EPA Administrator on
 areas  related to environmental justice, focused its
 fifteenth meeting on a specific policy- public health
 and environmental justice. For that effort, members
 of  the International Subcommittee discussed at
 length various public health issues related to farm
 workers and their exposure  to  pesticides.  This
 section focuses on how to improve the health of farm
 workers related to the exposure of pesticides.

 4.1.1   Improving the Health of Farm Workers:
        First Hand Accounts of Life as a Migrant
        Farm Worker

 Mr. Fernando Cuevas, Vice President, Farm Labor
 Organizing Committee,  began the discussion of
 improving the health of farm workers by sharing his
 life experiences as a farm worker.  Mr. Cuevas
 stressed that it was not until he was 36 years old that
 he  learned what pesticides were, emphasizing the
 lack of training provided to farm workers, as well as
 their lack of awareness of the problems associated
 with pesticides.  Mr. Cuevas stated that there are
 three types of farm workers: (1) farm workers who
 live and work in one place; (2) farm workers who
 have a home base, but work in various areas of a
 state, according to the season; and (3) migrant farm
 workers who live and work all overthe United States,
 and who move constantly. Mr. Cuevas noted that he
 had been one of the third type of farm worker, a
 migrant farm worker.

 In addition to the exposure to pesticides that all farm
 workers experience, continued Mr. Cuevas, migrant
 farm workers are exposed to the dangers of traveling
 around the country to seek work.  Children,  he
 added, often are taken out of school so their parents
 can travel to pursue seasonal employment.

 Mr. Cuevas then  described the birth of one of his
 daughters. He and his wife had gone to a hospital,
 he said, where the delivery-room doctor lectured his
 wife and interrogated  her, accusing her of taking
 illegal drugs, drinking alcohol, and harming her own
 baby during  the  pregnancy.  Mr.  Cuevas  then
 explained that their daughter had been  born with
 severe birth defects and learning disabilities.  Like
 many farm worker families, they blamed themselves
 for their daughter's problems, without realizing that
 the deformities  had been caused by exposure to
 pesticides. It was not until a few weeks later, he
 continued, that another doctor, who was trained to
 recognize  the  signs  and effects  of exposure to
 pesticides  informed  them  of  the true  cause.
 Unfortunately, health care officials are not trained to
 recognize the symptoms or effects of exposure to
 pesticides, Mr. Cuevas stated. Many farm workers
 who  have such  ailments  are not diagnosed  or
 treated properly, nor are they given the correct
 explanation of their ailments, he said.

 Mr.  Cuevas also  noted that,  complicating  the
 problem of inadequate diagnoses  of exposure to
 pesticides, farm workers cannot afford to take time
 off when they are sick. Time off means no pay, he
 pointed out, recalling a time when he was in so much
 pain that he could  not  move.  He had  seen a
 chiropractor for the pain, he said. The chiropractor
 found nothing wrong and charged him a high fee for
 the visit, he  continued.  Within a few days, Mr.
 Cuevas said, he had begun to feel better, leading
 him to believe that his body had processed whatever
 chemicals to which he had been exposed. His own
 story, he said, demonstrates that doctors often find
 nothing wrong, and that farm workers often cannot
 afford visits to a doctor or medication that might be
 prescribed, as well as days off work without pay.
 Therefore,  they must often  live with the pain and
 accept it as normal, he explained.

 In addition to the lack of training of health-care
 providers, Mr. Cuevas continued, EPA standards for
 verification of training are inadequate.  Often, he
 pointed out, videotapes on chemical safety training
 are not available in the appropriate  languages.  He
 explained further that time is not taken with people
 who lack education and often cannot read and write
 to explain the severity of the situation. He stated the
 fear that agencies  might  be "complying" with
 regulations only to receive funding allocations, rather
 than actually effectively communicating the message
 and adequately warning people of  the dangers of
 exposure to pesticides.  Mr. Cuevas then told the
 subcommittee he  had  traveled with Mr.  Kevin
 Keaney, Acting  Chief, Certification and Worker
 Protection Branch, EPA OPPTS, to migrant farm
 worker camps to interview the farm workers.  Not
 one, Mr. Cuevas declared, and Mr. Keaney agreed,
 had received training from an employer.

All of the circumstances  he had  described, Mr.
 Cuevas continued,  contribute to  discrimination
 against and ill-treatment of farm workers, who, he
 noted,  are  primarily Hispanic  or other minorities.
The living and working conditions and exposure to
 pesticides that  farm workers  are  subjected,  Mr.
Cuevas continued,  "are horrible and are still horrible
even in the year 2000." Even though there are child
 labor laws intended to prevent children from working
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International Subcommittee
                                                      National Environmental Justice Advisory Council
in the fields, he added, there still are young children
working in the fields. Because many families cannot
afford to  pay for sitters or do not have a place to
leave their children  while they are  working, he
explained, many children are brought to  the fields
and left in a car near locations at which pesticides
are sprayed. Mr. Cuevas stressed the importance of
adequate training for farm workers and health-care
providers and of laws that are enforced adequately
to support the effort to reduce the exposure of farm
workers to harmful contaminants.

Ms. Maria Elena Lucas Rochel, farm worker and
organizer,  Arlington,  Texas,  also  began  her
presentation  with  a first-hand  account  of  the
hardships of life as a migrant farm worker with two
children.  She spoke of the intense discrimination
and prejudicial attitudes that she faced, thinking the
situation  was normal because she did  not know
differently.  Ms. Lucas began life as a  migrant farm
worker, was married at 15, and took her children to
the fields to work.  At that time, she said, she did not
know there was a world beyond the fields, nor did
she know about the dangers posed by pesticides.

Ms.  Lucas  explained  that farm  workers were
exposed  constantly to the spraying of pesticides and
that, when the fields were closed for a 48-hour, no-
entry period so that pesticides could be applied to
them, the farm workers would go home to their camp
located in the fields. She also described drinking
water out of the hose used  to spray pesticides,
explaining that fresh water would be run through the
hose before it was used to supply drinking water.
People then would drink from the  hose. No one
knew or thought about the dangers of exposure to
pesticides, she noted.

Ms. Lucas then described a freak accident during
which she and her son were sprayed with chemicals.
At that time, Ms. Lucas explained, she  knew that
pesticides were dangerous because she had heard
Mr. Cesar Chavez, leader, United Farm  Workers,
speak at a Farm Labor Organization meeting and
had become involved in working with a farm worker
organization. She and her son, she said, were in the
middle of a field being sprayed by chemicals; their
throats were burning and they were choking and
vomiting, she continued.  She said she knew that,
unless they could get to a hospital they both would
die.  Miraculously, she continued, they were able to
trudge out of the field and to a hospital, both on the
verge of  death. Ms. Lucas ended her presentation
by introducing her  book,  Forged Under the
Sun/Florida bajo el sol - The Life  of Maria Elena
Lucas.
4.1.2   Barrio  Logan Successful in  Closing
       Methyl Bromide Facility

Mr.  Cesar  Luna,  Policy  Associate,  Border
Environmental Justice  Campaign,  Environmental
Health Coalition, described the success of the Barrio
Logan community in San Diego, California in shutting
down  a methyl bromide facility at the Port of San
Diego.  He explained  that the facility had  been
established as  a business venture.  Exhibit 7-2
describes  methyl bromide.  Fruit, primarily grapes
imported from Chile, was fumigated with methyl
bromide at the facility.  He attributed the success in
shutting down the facility to the empowerment of the
community, stressing the necessity that members of
such  communities  stop  seeing themselves as
victims, and rather come to think of themselves as
powerful agents of change. Aside from the years
spent working to shut down the cold storage facility
in Barrio Logan and to convince the authorities that
the action was one to take, Mr. Luna commented, he
believed that the success story of Barrio Logan was
a good example of the power communities have. He
explained  that  the  process begins with people
educating  themselves, learning to understand and
employ their capabilities, and then informing and
educating  the government.

Mr. Luna then explained the various stages of the
process the community had engaged in, saying that,
at first, members of the community had been told
that there was no alternative to the use of methyl
bromide.   Mr.  Luna  questioned  the  claim that
alternative  technologies  are  available   and
encouraged the  members  of the International
Subcommittee to use technology to their advantage
in finding  environmentally safe alternatives and
fighting to ban harmful chemicals.  Mr. Luna then
stated the need for a standard and enforced protocol
for chemicals. He attributed much of the success of
the Barrio Logan community to the hard work of Mr.
Jose  Bravo, Southwest Network for Environmental
and Economic Justice and former member of the
International Subcommittee, who had, Mr.  Luna
pointed out, played a major role in the process.

Continuing the presentation, Mr. Bravo commented
that the government ultimately had not been of help
and that the actual reason the facility was closed
was that it was losing money. He added that he had
testified  before Congress  against  the facility.
Subsequently, he continued, he had learned that
companies had stockpiled methyl bromide atthe port
near the Barrio Logan community and that recycling
of  the compound is not available.  Mr. Bravo
asserted that groups in Australia have a technology
for recycling methyl bromide, adding that a solution
to the problem  will  be found  if the government
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 Nations! Environmental Justice Advisory Council
                         International Subcommittee
                                       Exhibit 7-2
              METHYL BROMIDE

  Methyl bromide is a colorless, odorless gas used in
  agri-food industries throughout the world to control
  insects, nematodes, weeds, diseases, pathogens, and
  rodents.  Methyl bromide is used to fumigate such
  structures as grain storage facilities, flour mills, and
  ships and trains that carry agricultural commodities.
  It also is used to fumigate soil in greenhouses and
  farm fields and to treat such commodities as fruits,
  vegetables, grains, nuts, wood, and wood products.

  Once noted as an effective pesticide used throughout
  the world, methyl bromide today is categorized as a
  significant threat to the ozone layer. It is estimated
  that, once bromine reaches the stratosphere, it is some
  50 times more efficient than chlorine, on a per atom
  basis, in destroying stratospheric ozone. Emissions
  of methyl bromide from human activities are
  estimated to account for as much as 10 percent of
  observed global ozone losses.

  Under the authority of the Clean Air Act, the U.S.
  Environmental Protection Agency (EPA) has
  prohibited the production and import of methyl
  bromide after January 1, 2001. In addition, in 1994,
  EPA froze U.S. production at 1991 levels. To
  facilitate the smoothest possible transition to
  alternatives, EPA has allowed the longest possible
  time before the phase-out. The phase-out applies to
  production and import of the chemical, not use. Use
  of pesticides is governed by the Federal Insecticide,
  Fungicide, and Rodenticide Act (EEFRA).

  There is no single alternative suitable for all the uses
  of methyl bromide, however, numerous chemical  and
  nonchemical pesticides are available that effectively
  control many of the pests for which methyl bromide
  is used. Each of those alternatives has drawbacks:
  some alternatives require changes in production
  systems; others can control only some of the pests
  methyl bromide is effective on. Since no single
  technology is available to replace methyl bromide, an
  integrated pest management (IPM) approach, which
  involves the combination of a number of preventive
  techniques and alternative control mechanisms, is
  likely to be used.
provides funds to support research on alternatives to
methyl bromide.  Mr. Bravo also exposed the myth
that the facility had brought jobs to the area, saying
that of  the 1,700 homes  surveyed,  no  resident
worked at the facility. Members of the community
were not living there because of jobs created by the
facility, nor were they gaining from the facility in any
way, he declared.
 Mr. Luna then voiced a plea for an immediate ban on
 methyl bromide.   A participant in the  meeting
 commented that it was her understanding that the
 phase-out date for methyl bromide had been delayed
 to 2015.  People cannot wait, Mr. Luna observed,
 and  the human   element  must  be  recognized
 because, while  legislation  is delayed, communities
 are harmed.  He stated in clarification that he was
 not opposed  to responsible  industry and that he
 believes  that  community groups  often  become
 labeled "anti-everything."  That is not the case, he
 asserted.  He added  that he wished to work with
 government  and  was  asking  industry  to  be
 responsible and accountable.

 4.1.3   Lake Apopka and Farm Worker Health

 Ms. Jeannie Economos, Farm Worker Association of
 Florida, began  her presentation on Lake Apopka,
 Florida by providing the members of the International
 Subcommittee with background information. Before
 1940, Lake Apopka was Florida's second largest
 lake,  she said.  In the 1940s, she reported, 20,000
 acres were diked and drained  to be  used as
 farmland,  primarily for the  production  of  corn,
 carrots,  radishes,  and  lettuce.   Fertilizers  and
 pesticides were applied, and lake water was used for
 irrigation for the farmland, she continued.  By 1998,
 the state legislature had passed a law under which
 farm  operations were to be  bought  out and  Lake
 Apopka cleaned up.  Under that program,  $113
 million  government dollars   were  spent to  buy
 farmland that had been given to farmers in 1940, she
 declared. At the time of the buyout, more than 2,000
 farm workers lost their jobs.

 The area was to be flooded so that the land would be
 restored to wetlands.  The area near Walt Disney
 World, Orlando, Florida, then would be clean, and
 expensive homes could be built around the  lake,
 said Ms.  Economos.  However, she said, in the
 winter of 1998 and through early 1999, more than
 1,000 water birds  were found dead in the  lake.
 Experts from  the  U.S. Fish and  Wildlife Service
 (FWS), Department of the Interior (DOI), and EPA
 were  called in to find  the  cause of  the  kill.
 Laboratory analysis of bird  tissue  revealed  high
 concentrations  of  pesticides,  she  continued,
 including breakdown products of dichloro-diphenyl-
trichloroethane (DDT), aldrin, and organochlorines.
All the pesticides detected, she added, had been
 banned, some for more that 20 or 30 years.

 In addition  to the pesticide contamination,  Ms.
 Economos continued, approximately 20,000 tons of
soil contaminated  with petroleum, pesticides,  and
 heavy metals were removed during the cleanup
conducted before the flooding of the farmlands. She
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International Subcommittee
                                                       National Environmental Justice Advisory Council
explained that two Superfund sites identified in the
1980s,  both  partially  remediated  and   under
continuing monitoring plans, are located adjacent to
the lake.

Ms. Economos expressed her dismay about the lack
of publicity Lake Apopka has received, commenting
that many people in Florida still are unaware of the
seriousness of the situation. She pointed out that
pesticides are endocrine-disruptive chemicals, the
effects of which generally are seen in the offspring of
exposed individuals.  Therefore, she said, it is
possible that people and media do not notice those
effects and focus instead on the risk of cancer or the
threat of immediate death.

Ms. Economos then stated that the principal issue
overlooked in the story of events at Lake Apopka, is
the 2,000 farm workers. No one, aside from farm
worker  associations, has thought  about  those
people,  she said. The government has spent money
testing alligators and deformed alligator offsprings,
birds, and  fish,  but  not humans, Ms. Economos
declared. Farm workers supplement their diets by
eating fish, she explained,  noting that, after a study
on fish,  an advisory was released. Ms. Economos
reported the message of that advisory as, "It is okay
to eat fish, just do not eat too much fish." She added
that no studies  of the farm  workers have been
conducted to assess the multiple exposures to which
they are subject.  Ms. Economos  concluded her
presentation with a plea for studies on farm worker
health.

4.1.4   Initiatives of  the  U.S.  Environmental
        Protection Agency Office of Prevention,
        Pesticides, and Toxic Substances

Mr. Keaney began a discussion of the  initiatives
undertaken  by  OPPTS,  noting  that regulations
provide  Federal guidance on the application of
pesticides and stating his agreement that the health-
care  community  is ill-prepared  to deal  with
pesticides.  He also expressed agreement with the
presenters who  had  preceded him that there is a
need to increase  awareness of the dangers of
pesticides. One way to address the lack of trained
health-care providers, he  suggested, might be to
include  pesticides in teaching  modules  used in
medical schools.  He also stated that his office
distributes to emergency recovery centers the
guidelines,   Recognition  and   Management of
Pesticide Poisonings in both English and Spanish.
Currently, the implementation plan for  providing
national strategies to train  health care providers on
pesticides was in the final stages of preparation, he
said. He then  expressed hope that, by 2001, a
national forum will be held to begin implementation
of the plan.

Using slides to outline his points, Mr. Keaney then
discussed  EPA's Agricultural  Worker  Protection
Program.  While he agreed with some members of
the International Subcommittee, who questioned the
adequacy of the training material, he explained, it is
important that the members be aware that EPA felt.
the need  to provide materials  as a  "stop-gap"
measure.  Although the material is not flawless, he
continued, it was necessary to produce a document
in a timely manner. He also pointed out that, while
regulations  are in  place,  he  questioned  the
effectiveness of enforcement efforts. A quick audit
of the program,  he added, had found lapses.  He
asked  the  members   of   the  International
Subcommittee to consider what they would like to
see in the next  training program and  share their
suggestions with him.

Mr. Keaney stated that EPA's goals include:

•   Conduct a national assessment of protection of
    agricultural workers to be based on the model
    developed by the Certification  and  Training
    Assessment  Group  (CTAG),   which  was
    established  in 1996 by  EPA and the  U.S.
    Department of Agriculture (USDA).

•   Review the process used to calculate restricted
    time  entry  intervals  after  application  of
    pesticides, including people 10 years of age and
    older.

•   Revise  the  process  for  calculating risk to
    bystanders that was to be released for public
    comment.

•   Increase in the number of projects that focus on
    medical services to children of farm workers and
    exposure to pesticides.

Mr. Keaney stressed the importance of ensuring that
regulations adequately protect young workers and
children, even though, children should not be in the
field.   In  reality, children are there, he said, and
therefore the regulations should protect them.
One of the difficulties in achieving those goals, Mr.
Keaney  explained,   is constructing an  accurate
picture  of the agricultural worker.  The National
Agricultural Workers Survey,  he continued,  has
completed more than 20,000 interviews in which a
U.S. Department of Labor (DOL) survey was used.
The survey was conducted with partial funding from
EPA  and the National  Institute for Occupational
Safety and Health (NIOSH),  he added.  Another
study, an examination of health  and nutrition, is
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 National Environmental Justice Advisory Council
                         International Subcommittee
 being conducted in collaboration with the National
 Center for Health Statistics and the National Center
 for Environmental Health, with the goal of evaluating
 risk factors  associated with elevated  levels  of
 pesticide metabolites in urine, he said. In addition,
 as a joint effort, of the National Cancer Institute
 (NCI), the National Institute for Environmental Health
 Sciences (NIEHS),  and EPA are  conducting an
 evaluation of pesticide applicators for environmental
 and occupational risk factors, he noted.  Rutgers
 University is  involved  in  a  pilot  project  in  an
 agricultural  area of New  Jersey that involves a
 survey of farm workers  and their families, he said.
 The effort includes completion of a questionnaire, a
 physical exam,  and environmental sampling and
 biological testing (for example, pesticide metabolites
 in urine and cholinesterase blood levels), Mr. Keaney
 continued.

 The  National  Pesticides  Telecommunications
 Network, which can be contacted by telephone toll
 free at (800)  858-7378, 9:30 a.m. to 7:30 p.m.
 eastern time and by e-mail at nptn@ace.orst.edu,
 Mr.  Keaney stated,  is a  bilingual (English  and
 Spanish) service that  provides  information  on
 pesticides and  how to recognize and  manage
 pesticide poisons and that  will transfer calls to the
 Poison Control Center or to an expert physician for
 consultation, if necessary.  Last, Mr. Keaney briefly
 described the  office's initiative on medical outreach
 to tribal  health-care  providers which includes: (1)
 tailoring  of  training  on pesticides  to  health-care
 providers who serve tribal communities, (2) survey
 work at potential pesticide  exposure sites, and (3)
 adaptation of  training of health-care  providers to
 incorporate real-life situations.

 4.1.5   Presentation   on  Worker   Protection
        Standard, Compliance and Enforcement
        Study

 Ms. Monica Kirk, Special Counsel to the Regional
 Administrator,  Office  of Oregon Operations, EPA
 Region   10, presented  the  results of a survey
 conducted in Oregon to determine the effectiveness
 of the Worker Protection Standards (WPS) and to
 determine if the problem was a compliance issue or
 an enforcement issue.  Exhibit 7-3 defines WPS.
 The results of the study suggested that enforcement
 was lacking, she continued, and that children had
 been working  in the fields at young ages.  Only 17
 percent of the workers surveyed only were literate in
 Spanish, and  many signs posted were in English.
 Only 50 percent of the workers knew what pesticides
 are, and public transportation  and   emergency
 services  generally were  not available to them, she
 stated. The WPS is in place, but is not as effective
 as it should be, she continued.  Enforcement is
 lacking  and there is a  lack  of  proper training,
 adequate safety equipment, and more, she said in
 conclusion.

                                      Exhibit 7-3
      WORKER PROTECTION STANDARDS

  The U.S. Environmental Protection Agency's (EPA)
  Worker Protection Standard (WPS) is a regulation
  intended to reduce the risk of pesticide poisonings
  and injuries among agricultural workers and pesticide
  handlers. The WPS offers protection to more than
  three and a half million people who work with
  pesticides at more than 560,000 workplaces. The
  WPS includes requirements for pesticide safety
  training, notification of pesticide applications, use of
  personal protective equipment, restricted entry
  intervals following pesticide application, the
  availability of decontamination supplies, and
  provision of emergency medical assistance.
4.2 Update   on   Activities   of   the   U.S.
    Environmental Protection Agency San Diego
    Border Liaison Office

Dr.  Clarice  Gaylord,  Special  Assistant  to the
Regional Administrator, San Diego Border Liaison
Office, EPA Region 9, reported on the activities and
progress of the education and  outreach program
conducted by the border office.  She began noting
that the NEJAC had criticized the office for failing to
establish   relationships   with   farm  worker
communities.  Therefore, she said, the San Diego
Border Office had made doing so a priority. The
office's   accomplishments   in  that  area,  she
continued, include an increase in technical training
that is focused on child safety. Specifically, she said,
a grant had been awarded to a local nongovernment
organization to provide  such training. Dr. Gaylord
also cited an increase in  the  number of  public
meetings  held in the U.S.-Mexico  border area of
Region  9.  The San Diego Border Office also had
awarded a grant to the Border Health Foundation to
improve the quality of drinking water by teaching
residents  of border communities how to disinfect
their own water, she said.  In addition, Dr. Gaylord
continued,  the   American  Lung  Association
conducted open-air waste training in San Diego and
Imperial counties and the San Diego Border Off ice is
helping  in the effort to identify and contract  a
nongovernment organization in Mexico to conduct
the same training in the  border area in that country.
Atlanta, Georgia,'May 25, 2000
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International Subcommittee
                                                       National Environmental Justice Advisory Council
Later in the meeting, Dr. Gaylord discussed some of
thecross-bordermeetingsthatthe San Diego Border
Office had hosted and some activities that had been
conducted as a result of those meetings:

•   The office was interacting closely with staff of
    other  Federal  agencies,  and had formed  a
    Border  Subcommittee,  and  was collecting
    geographic information system (GIS) data along
    the border.

•   The  office  currently was  soliciting   public
    comments on  the Border XXI  program, an
    innovative,  binational program  designed  to
    promote sustainable development in the border
    region, to be used to improve that program.

•   The office was conducting environmental justice
    training for other Federal agencies.

•   The office's Border Team and an Environmental
    Justice Team have developed an Environmental
    Justice Border Plan through a series of  public
    dialogue sessions; the plan addresses issues on
    both sides of the border.

Continuing, Dr. Gaylord stated that the San  Diego
Border Office was to conduct three more  public
meetings  in  Arizona  to  try  to extend  outreach
activities along the border. Technical activities, she
said, would be expanded through binational grants to
support environmental justice work. In  general, the
San Diego Border  Office continues the effort to
heighten  environmental  awareness  by  working
closely with  community groups, tribal groups, and
Mexican groups to .improve public  health,  Dr.
Gaylord said.

4.3 Update  on the Activities  of  the  U.S.
    Environmental Protection Agency Office of
    International Activities

Mr. Hecht began his presentation by acknowledging
that the current  period was a crucial point for the
BorderXXI program. The two upcoming presidential
elections in the United States  and Mexico will bring
new leadership and new  "players," he  pointed out.
Mr. Hecht stated that the goal is to begin by laying
the  foundation for  the next border plan.   EPA
currently is finishing a summary document on the
border projects,  Mr. Hecht added as he distributed
copies of the executive summary of the document to
the  members of the  International Subcommittee.
The document will provide a history of the past five
years  of  intense bilateral cooperation under the
Border XXI  program,  he  said. The  document, he
continued, is intended to illustrate what has been
accomplished and highlight the progress made to aid
discussion  groups   in  determining  the  future
organization of Border XXI.  Mr. Hecht added that,
on the basis of past discussions, he believed the key
issues for the new border plan (until the year 2020)
would be:

•   Water,   including  water  and  wastewater
    infrastructure and water use and quality.

•   I ndustrial stewardship and the role of the private
    sector.

•   Health and pesticides safety.

•   Management of solid and hazardous waste.

•   Sustainable cities.

•   Brownfields and urban redevelopment.

Specifically, Mr. Hecht mentioned a "In/ability grant"
awarded to EPA Region 9 in relation to the issue of
sustainable cities and the joint policy statement on
remediation  and   redevelopment  of the  U.S.-
Binational Commission (BNC), signed May 18,2000.

Mr.  Hecht  then   discussed  the proposed
"environmental justice commission" that had been
one of three  recommendations resulting  from the
August 1999 Roundtable on Environmental Justice
on  the U.S.-Mexico Border held  in National  City,
California.  First, he stated that he agreed that it is
important that communities have a definite role in the
decision-making process.  He explained the two
ways in which he believed that role could be defined:
(1)  through existing structures or (2) through direct
structures created for that purpose. However, with
the many changes currently affecting the  border
area, (new individuals involved and redefinition of the
goals for the next 20 years),  he pointed out, it was
questionable whether such a changing environment
was an opportune time to establish yet another new
group.   He  added,  however that,  despite  his
hesitation,  it was  possible that some entity might
emerge.  Mr. Hecht then  reported on an earlier
promise that he  had made to the  International
Subcommittee during the previous NEJAC meeting,
that is, recommending minorities for vacancies within
other advisory groups at EPA. He said that he had
followed through on that promise and that he was
proud to announce that Mr. Bravo was among the
five new members nominated to serve on the Good
Neighbor Environmental Board (GNEB). Exhibit 7-4
describes the GNEB.
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National Environmental Justice Advisory Council
                         International Subcommittee
                                       Exhibit 7-4
     GOOD NEIGHBOR ENVIRONMENTAL
                    BOARD

  The Good Neighborhood Environmental Board
  (GNEB) was created by the Enterprise for the
  Americas Initiative Act of 1992 (EAIA) (7 U.S. Code
  Section 5404) to advise the President and the
  Congress about environmental and infrastructure
  issues and needs within the states contiguous to
  Mexico. The statute requires the GNEB to submit an
  annual report to the President and the Congress.  The
  GNEB has submitted reports in October 1995, April
  1997, and July 1998. The GNEB's 1997 [and 1998]
  report[s] also were translated into Spanish and widely
  disseminated on both sides of the border.

  The Act requires that the board membership include
  representatives from appropriate U.S. Government
  agencies; the governments of Arizona, California,
  New Mexico, and Texas; and private organizations,
  including community development, academic, health,
  environmental, and other non-governmental entities
  with expertise on environmental and infrastructure
  problems along the southwest border.

  A presidential executive order delegates
  implementation authority to the administrator of the
  U.S. Environmental Protection Agency (EPA). The
  GNEB operates under the Federal Advisory
  Committee Act (FACA) and meets three times
  annually at locations along the U.S.-Mexico border.
Mr.  Hecht's presentation  then focused on the
upcoming   meeting   of  the   Commission  on
Environmental  Cooperation  (CEC), scheduled for
June 11 through 12, 2000 in  Dallas, Texas.  He
highlighted important events and decisions that will
be discussed. One key issue to be discussed at the
CEC, he said, would be the importance of provisions
for citizens suits so that citizens are free to speak out
against  government.    He then   illustrated the
importance  of  the  issue by briefly explaining the
process.    Anyone can file  a suit  before the
commission. If the suit receives the support of two-
thirds of the commission, the case  proceeds to the
fact- finding stage. During the previous week, Mr.
Hecht continued,  the  suit against  the Metales y
Derivados site, located in Tijuana, Mexico, identified
at the August 1999 Roundtable on Environmental
Justice  in  the   U.S.-Mexico  Border  as  a
recommended site  for cleanup, was brought before
the CEC. The CEC voted unanimously to advance
the Metales y  Derivados case to  the  fact-finding
stage.  These provisions, he  had described, are
extremely important and should be included as an
amendment in the North  American Free  Trade
Agreement   (NAFTA)   Environmental   Side
Agreement.  Exhibit 7-5 describes the agreement.
Last, Mr. Hecht stated that the initiative on children's
health is a key issue that would be discussed during
the  Dallas meeting, as would the need to focus
internationally  on children's  health and  drinking
water. Mr. Hecht added that, in the future, he hoped
to expand the initiative to include  communities in
Africa and Central and South America.  He also
stated that a  phase-out of  lead  has  been very
successful in much of the world.

                                       Exhibit 7-5
       NORTH AMERICAN FREE TRADE
     AGREEMENT ENVIRONMENTAL SIDE
                 AGREEMENT

  The Environmental Side Agreement to the North
  American Free Trade Agreement (NAFTA) sought to
  provide a level playing field for free trade by
  committing the United States, Mexico, and Canada
  to effective enforcement of their respective
  environmental laws. Facilitated by the North
  American Commission on Environmental
  Cooperation, the three nations have created the
  North American Working Group on Environmental
  Enforcement and Compliance Cooperation and
  developed a cooperative program to stimulate and
  enhance effective enforcement in the three countries.
  In 1996 and 1997, the three countries initiated
  cooperative projects to:

  •  Improve compliance monitoring and
     enforcement for transboundary shipments of
     hazardous wastes and banned substances, such as
     ozone-depleting chlorofluorocarbons (CFC).

  •  Improve enforcement of restrictions on trade in
     endangered species.

  •  Cooperate in improving compliance and
     enforcement measures.

  •  Examine the role and effect of environmental
     management systems approaches in improving
     compliance and environmental performance.

  •  Develop cooperative approaches to the use of
     enforcement tools to ensure the sound
     management of toxic chemicals that are
     persistent in the environment.
Continuing his presentation, Mr. Hecht discussed the
recent White House initiative, Partnership for Trade
and Environment. EPA would be the beneficiary of
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International Subcommittee
     National Environmental Justice Advisory Council
the initiative, the goal of which would be to fully
understand the environmental effects of all trade
activities and decisions, to identify areas outside of
EPA's influence, and in those  cases, to mobilize
through  the   U.S.  Agency  for  International
Development  (U.S.  AID)  and   other  relevant
agencies.  Although the $4.5 million dollar initiative
was eliminated in the U.S. House of Representatives
just the preceding day, Mr. Hecht continued, it was
a White House initiative, indicative of a positive step
that shows that national leaders are beginning to
recognize the importance of working with developing
countries in the areas of trade and the environment.
Otherwise,  he warned, there would be a constant
battle. Mr. Bravo commented that the main  reason
for the  protests   against the   World  Trade
Organization  that  had occurred  in  Seattle,
Washington, and Washington, D.C., is that  the
environmental justice component is not included in
trade talks.

After he was asked by a member of the International
Subcommittee what is being done to protect African
communities from  the  adverse  effects of poor
environmental conditions, Mr. Hecht responded that
Africa is one of the areas targeted for partnership
efforts.  However, he explained, despite all efforts
that are carried out, it is up to the host government
to take ultimate responsibility and consider  the
efforts to be in their own best interests.

Mr. Hecht then addressed other recommendations
that developed during the August 1999 Roundtable
on Environmental  Justice  on  the U.S.-Mexico
Border. In the matter of the  cleanup of the Metales
y Derivados site, he explained that, because the site
is located on private  land  in Mexico, it is more
difficult for EPA to fund the cleanup. One option for
cleanup is  for the Mexican government to seek
extradition,  but that approach would be time-
consuming and already there is reluctance on the
part of Mexican authorities, he explained. However,
he commented, private-sector interest in the Metales
y Derivados site is growing  and the Secretaria de
Medio Ambiente Recursos Maturates y  Pesca
(SEMARNAP) and EPA continue to meet. Again, he
continued, because of the upcoming elections, little
can be done, other than laying the foundation for the
new administration. When asked why the focus was
on the Metales y Derivados site,  rather than the
Presto Lock or Gato Negro site, also identified during
the August 1999  Roundtable  .on Environmental
Justice on  the U.S.-Mexico  Border,  Mr. Hecht
responded  that the Metales y Derivados site is an
American-owned site and it is  a "bigger blemish"
than the other two sites.
The Status Report on the Water and Wastewater
Infrastructure  Program  for  the  U.S.-Mexico
Borderlands, prepared by the Pan American Health
Organization in May  2000,  illustrates that human
health  risk at  borders is an issue that  must be
addressed, said  Mr.  Hecht. Adverse  effects on
human health are much more prevalent in residents
of border areas than in  other segments of the
population, he said in  conclusion.

  5.0  DIALOGUE WITH THE SOUTH AFRICAN
                DELEGATION

Mr. Garcia welcomed the South African delegation
and  opened  the floor  to  public  dialogue  and
requested that  Dr. McClain begin the discussions.

Dr. McClain began the discussion by acknowledging
that environmental justice concerns are the same for
both countries, the U.S. and South Africa, and have
been  reiterated repeatedly  and that the goal  of
environmental justice efforts is to build initiatives that
rely on people and communities, rather than relying
on funding from government  or on sanctions. Some
of the questions that the South Africa delegation had,
Dr. McClain continued,  were structural in nature.
They included  how the NEJAC functions  and how
the  International  Subcommittee  operates,  she
added.  The study tour to the  United States,  Dr.
McClain added, had  been conducted so that the
South Africans interested in environmental justice
could learn from the  lessons learned through the
NEJAC process.

Mr.  Thabo Madihlaba,  Environmental  Justice
Network Forum and member of the  South Africa
delegation, stressed  the  importance of  the trip,
saying that South   Africa   does  not  have  an
environmental  policy and that the prevailing thought
and concern is more geared  toward conserving
nature than toward people and living with  pollution.
He explained  further that  the very concept  of
environmental  justice is unknown in South Africa; it
is addressed, he said, as a health problem having a
much  narrower  scope than the  United States
concept of environmental justice. At the same time,
he  added,  multinational firms  that  have few
environmental  standards  are allowed  to pollute,
people are removed forcefully from their homes to
make way for  industrial  operations,  and ailments
related to occupational conditions occur.

Ms. Elsie Motubatse, Swaranang and member of the
South Africa delegation, commented on the lack of
environmental  awareness, stating that mines were
left open after they were abandoned, with no attempt
made  to close the open mine shaft.   Ms. Sally
Phetoe, Congress of South African Trade Unions
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 National Environmental Justice Advisory Council
                       International Subcommittee
 (COSATU)  and  member  of the  South  Africa
 delegation, added that platinum mining is carried out
 in most of the northwestern province of South Africa;
 yet, she said, there are only two occupational health
 and safety policies  in  place.   Continuing,  she
 commented  on  the lack  of  appropriate  and
 comprehensive legislation, declaring that the country
 has no policy  on determining whether companies
 have in fact implemented the two existing policies.

 Mr.  Sanwabo  Ndandani,  Tsoga  Environmental
 Center and member of the South Africa delegation,
 reported on conditions  in Touship,  population
 25,000. He decried the community's close proximity
 to a sewage  plant located in the center of the
 community. He added that wetlands in the area are
 filled  with  poisons  and are dangerous  to  the
 communities surrounding them. He stated that four
 public  meetings  had been  conducted.   In  South
 Africa, he explained, competition  exists between
 communities and the government and plants  that
 exist around communities should be shut down. Mr.
 Musa Mzimela, Masikhule Nobunye and member of
 the South Africa delegation, stated that, between
 1994 and 1999, there was little change in legislation.
 In 1999, he continued, a national environmental care
 management act was  created; at that time, he
 pointed out, most of the industries in South Africa
 were not South African-owned.  Mr.  Mzimela then
 stated  his belief that he  believes  that the United
 States and Great Britain are obligated to cleanup the
 environmental damage in South Africa, since those
 two countries are the generators of the pollutants.

 Mr. Madihlaba explained that South Africa  has
 neither regulatory or monitoring mechanisms northe
 capacity in terms of human and economic resources
 to  conduct  adequate  research.    There  are
 approximately 1,000 landfill sites in the country, he
 added, and he and the other members of the South
 Africa  delegation want the government to tell the
 people (1) how many landfill sites there are, (2) what
 human health  risks those landfills  pose to nearby
 communities,  and   (3)   what  strategies  using
 environmentally friendly methods should be used to
 clean up those landfills.

 When the discussion was opened to members of the
 subcommittee, Mr.  Garcia commented that he
 appreciated the comments made by the delegation
 and  noted  many  similarities   between  their
 experiences and those  of  environmental  justice
 communities in this country. Mr. Alberto Salamando,
 General  Counsel,   International  Indian   Treaty
 Council, commented that America still struggles with
 racism and  still  deals  with colonialism  with  the
treatment of American Indians, which has not ended.
While Mr. Salamando acknowledged that he could
 not  offer  a  solution,  he  suggested  that  the
 government   of   South  Africa   should  allow
 communities to sue the perpetrators of the pollution.
 He then stated that everything is assessed in dollars,
 but that a community's well being and human life
 cannot be assessed in terms of dollars. The global
 economic system promotes the degradation of the
 environment, he added.

 Mr. John Armstead, Deputy Director, Environmental
 Services Division,  EPA Region 3, added  that the
 discussion of  the global economy should include
 discussion of the global environment as the two are
 linked.  The  South  Africa delegation  had been
 brought together with the NEJAC  to  understand
 lessons learned in addressing environmental justice
 issues, he explained, and South Africa is in need of
 an environmental justice forum at the ministry level,
 he added.

 Mr.  Madihlaba  asked   the members  of   the
 International Subcommittee whether there was a
 U.S. policy on South Africa that encouraged industry
 through an incentive program  and  encouraged
 people to invest in South Africa in an environmentally
 friendly way. Mr. Hecht responded by stating that it
 is difficult to characterize a coherent U.S. policy,
 since many agencies are involved in many projects
 and  programs; however,  he added,  there  is a
 general policy that provides incentives solely to
 promote investment by companies. South Africa is
 not  attracting business,  he  commented,  by
 maintaining  low environmental  standards.    Mr.
 Salamando elaborated on that point, stating that
 companies continue to  invest  as long  as  the
 investment is profitable. Mr. Madihlaba then asked
 whether there are environmental regulations that
 govern U.S. companies  that wish to establish a
 facility  in  another  country.   Mr.  Tseming Yang,
 Vermont Law  School, answered by  stating  that
 multinational   corporations   prohibit  their   U.S.
 corporation or subsidiaries from bribing officials in
 other countries. Mr. Yang explained that companies
 must act  in an  ethical  and legal manner when
 conducting business abroad.

 In the few minutes remaining, Mr. Salamando briefly
 commented  that  the  World  Conference  on
 Environmental Racism would provide an opportunity
 to examine how international consciousness can be
 raised.  He distributed  a memorandum  on  the
 subject and encouraged the members to read it. He
then asked for the subcommittee's  permission to
work with  Mr.  Hecht to  request that  the  NEJAC
 participate in the conference.
Atlanta, Georgia, May 25,2000
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International Subcommittee
                                                      National Environmental Justice Advisory Council
       6.0  SIGNIFICANT ACTION ITEMS

    The members of the International
    Subcommittee agreed to review and comment
    on a proposed resolution of the Indigenous
    Peoples Subcommittee on the proposed
    international treaties related to persistent
    organic pollutants.

    The members of the International
    Subcommittee requested that a work group on
    farm workers (Hispanic and non-Hispanic) be
    established to examine economic, social,
    environmental, and public health issues.

    Ms. Beth Hailstock, Director, Environmental
    Justice Center, requested that a roundtable
    meeting devoted solely to issues related to
    farm workers be organized and that
    representatives of all pertinent agencies and
    all relevant community groups participate.

    Mr. Cuevas requested that universities
    develop programs through which workers can
    receive training about the effects of pesticides
    on human health.

    The members of the International
    Subcommittee requested that a work group be
    established to focus on follow-up issues from
    the Roundtable on Environmental Justice on
    the U.S.-Mexico Border.
 7-12
                                                                      Atlanta, Georgia, May 25,2000

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                     MEETING SUMMARY


                           of the


          WASTE AND FACILITY SITING SUBCOMMITTEE


                           of the


    NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                        May 25, 2000
                     ATLANTA, GEORGIA
     Meeting Summary Accepted By:
Kent Benjamin                     Vernice Miller-Travis
Office of Solid Waste and            Chair
Emergency Response
U.S. Environmental Protection Agency
Designated Federal Official

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                                        CHAPTER EIGHT
                                       MEETING OF THE
                         WASTE AND FACILITY SITING SUBCOMMITTEE
             1.0  INTRODUCTION

 The Waste and Facility Siting Subcommittee of the
 National Environmental Justice Advisory Council
 (NEJAC) conducted a one-day meeting on Thursday,
 May 25, 2000, during a four-day meeting of the
 NEJAC in Atlanta, Georgia.  Ms. Vernice Miller-
 Travis,  Partnership for  Sustainable Brownfields
 Redevelopment, continues to serve as chair of the
 subcommittee.  Mr. Kent Benjamin, Environmental
 Justice Coordinator, Outreach/Special Projects Staff
 (OSPS), U.S.  Environmental  Protection Agency
 (EPA) Office  of Solid  Waste and Emergency
 Response (OSWER), continues to  serve  as the
 Designated   Federal   Official  (DFO)  for  the
 subcommittee.   Exhibit 8-1 presents a list of the
 members who attended the meeting and identifies
 those members who were unable to attend.

 This chapter, which  provides a summary of the
 deliberations of the  Waste and  Facility  Siting
 Subcommittee, is organized in six sections, including
 this Introduction. Section 2.0, Remarks, summarizes
 the opening remarks of the chair and the Assistant
 Administrator of EPA OSWER. Section 3.0, Update
 on Work Groups of the Subcommittee, summarizes
 the  activities  of  the  work  groups of   the
 subcommittee.   Section 4.0, Presentations and
 Reports, presents an overview of each presentation
 and report received by the subcommittee, as well as
 a  summary of questions asked and  comments
 offered  by  the  members of the  subcommittee.
 Section   5.0,   Summary of   Public  Dialogue,
 summarizes discussions offered during  the public
 dialogue period  provided by the  subcommittee.
 Section  6.0, Significant Action Items, summarizes
 the  significant   action  items   adopted by the
 subcommittee.

 The members of the subcommittee also participated
 in  a joint session with the Health and  Research
 Subcommittee  of  the  NEJAC to  discuss the
 exposure  investigation  of  Mossville,   Calcasieu
 Parish, Louisiana,  conducted by the Agency for
Toxic Substances and Disease Registry (ATSDR) in
 November 1999.  Chapter nine of this  document
 provides a summary of the deliberations of the joint
session.
                                     Exhibit 8-1
         WASTE AND FACILITY SITING
               SUBCOMMITTEE

                   Members
            Who Attended the Meeting
                 May 25,2000

          Ms. Vernice Miller-Travis, Chair
          Ms. Veronica Eady, Vice Chair
             Mr. Kent Benjamin, DFO

               Ms. Denise Feiber
            Ms. Donna Gross McDaniel
              Ms. Patricia Hill Wood
               Mr. Melvin Holden

             Ms. Katharine McGloon
               Mr. Harold Mitchell
            Mr. Neftali Garcia Martinez
                Ms. Mary Nelson
            Ms. Brenda Lee Richardson
               Mr. Mervyn Tano
               Mr. Michael Taylor
               Mr. Johnny Wilson

                  Members
          Who Were Unable To Attend

              Ms. Lorraine Granado
               Mr. Michael Holmes
               Mr. David Moore

               2.0  REMARKS

Ms. Miller-Travis opened the subcommittee meeting
by  welcoming  the  members  present and  Mr.
Benjamin, as well  as Mr. Timothy Fields,  Jr.,
Assistant Administrator,  EPA OSWER, and  Mr.
Michael  Shapiro,   Principal  Deputy  Assistant
Administrator, EPA OSWER. Ms. Miller-Travis also
introduced Ms. Veronica Eady, Executive Office of
Environmental  Affairs,  Commonwealth   of
Massachusetts,  as  the  vice-chair  of  the
subcommittee.  At the conclusion of Ms.  Miller-
Travis' welcoming remarks, Mr. Fields greeted the
members of the subcommittee and  informed the
members of the public present that "EPA officials are
not members of the subcommittee, but helpers." He
then   briefly  outlined   some   initiatives  the
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Waste and Facility Siting Subcommittee
                                                       National Environmental Justice Advisory Council
subcommittee  had  been  involved  in.   Those
initiatives include, but are not limited to, relocation of
residents under Superfund, facility siting under the
Resource Conservation and Recovery Act (RCRA),
minority  worker  training,  and  the  Brownfields
Economic Redevelopment Initiative.  Ms. Miller-
Travis added that OSWER and the subcommittee
had spent significant time developing a partnership.
Mr. Shapiro  then greeted the members of the
subcommittee and informed the group that OSWER
had  been working to  follow up  on suggestions
previously offered by the subcommittee.

   3.0 UPDATE ON WORK GROUPS OF THE
               SUBCOMMITTEE

This section  discusses the activities of the  work
groups   of   the  Waste  and  Facility  Siting
Subcommittee of the NEJAC.

3.1 Waste Transfer Stations Work Group

Ms. Sue Briggum, Director of Government Affairs,
Waste Management, Inc. and former member of the
Waste and  Facility Siting Subcommittee of the
NEJAC, made a presentation on the status of the
report,  A Regulatory Strategy For Siting  and
Operating Waste Transfer Stations.  The report,
which was  developed  by the Waste Transfer
Stations  (WTS) 'Work Group of  the Waste and
Facility  Siting  Subcommittee,  provides  to  EPA
OSWER recommendations and suggestions related
to WTSs. Exhibit 8-2 describes the purpose of the
WTS work group. The report was submitted to the
EPA Administrator in March 2000.

Following Ms. Briggum's status report, Mr. Fields
informed the members of the subcommittee about
EPA's Municipal Solid Waste Transfer Station Action
Strategy.  The report outlines actions and  best
management   practices   (BMP)  EPA  plans to
implement in response to environmental justice
concerns related to WTSs that  the WTS Work
Group set forth in its report. According to Mr. Fields,
OSWER  agrees   with  the  recommendations
presented in the report of the WTS Work Group and
plans to address issues raised specifically about
such facilities located in  New  York City  and
Washington, D.C.   In the case  of many of the
suggestions, said Mr. Fields, it will take some time to
scope out  and  implement  appropriate actions.
However, he added that other suggestions will be
acted on right  away. The draft status report is a
work in progress and an intra-agency work group
has been formed  to  continue working  with  the
subcommittee, he continued. An action meeting was
to be held on June 11, 2000 to discuss BMPs, he
then announced.
                                                                                       Exhibit 8-2
  THE WASTE TRANSFER STATIONS WORK
    GROUP OF THE WASTE AND FACILITY
           SITING SUBCOMMITTEE

 The Waste Transfer Stations (WTS) Work Group of
 the Waste and Facility Siting Subcommittee is
 charged with conducting fact-finding efforts and
 issuing recommendations to the U.S. Environmental
 Protection Agency (EPA) for a national approach to
 addressing the effects of the siting and operation of
 WTSs on low-income and people of color
 communities. A WTS serves as a temporary storage
 facility where waste can be  stored for no more than
 10 days while it is being transported to a permanent
 disposal facility. The disproportionate effects of
 clustered siting and operation of WTSs in a number
 of municipalities, including New York City (NYC)
 and Washington, D.C., was brought to the attention
 of the National Environmental Justice Advisory
 Council (NEJAC) in May 1997.  The NEJAC had
 been advised that in certain communities in NYC,
 there is a disproportionate concentration of WTSs.
 As a consequence, those communities suffer adverse
 health, environmental, and economic effects. In
 addition, the city's current regulatory process does
 not address such concerns adequately. The NEJAC
 had been advised further that representatives of such
 communities feared that those conditions would be
 exacerbated by the impending closure of Fresh Kills
 landfill, NYC's only remaining landfill.
Mr. Fields also stated that OSWER was working to
resolve  issues related  to marine  WTSs.    An
operations and maintenance manual was being
developed to specify cleanup technologies, waste
handling procedures, reporting and record keeping
procedures, and other matters, he said.  The EPA
report   promotes  community  participation,   he
continued, and OSWER also was  developing a
citizen's guide that provides information about how
WTSs operateand how environmental justice issues
are addressed. The EPA report also focuses on
waste reduction and facility siting as well as uses the
principles of the Model Plan for Public Participation
developed by the NEJAC.

In addition to the  draft status  report, OSWER was
engaging  in dialogue with local officials and was to
hold forums in New York City in which the public will
be invited to participate, said Mr. Fields. It is hoped,
he added, that such a targeted approach will help
facilitate change.

Mr. Fields  then  offered special thanks  to  Ms.
Briggum, the WTS Work Group, and officials of EPA
Region 2.
 8-2
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 National Environmental Justice Advisory Council
              Waste and Facility Siting Subcommittee
 Ms. Miller-Travis informed the new members of the
 subcommittee that the OSWER response report is
 the product of work carried out over a period of three
 years. She then asked Mr. Fields and Mr. Shapiro
 about the response of state and local officials to the
 report. Mr. Fields replied that many of the responses
 focused on the observation that not all cities have
 the problems found in New York and Washington,
 D.C. Some counties have acceptable operations, he
 pointed out. Similarly, responses from state officials
 point  out that not all states  have such problems, he
 continued.  Mr. Shapiro added that a single model
 may not be adequate for all situations. However, he
 noted, in general, the response to the report had
 been  positive.  Ms. Miller-Travis then asked whether
 the Agency has heard from officials of New York
 City.   Mr. William Muszynski, Deputy Regional
 Administrator,   EPA  Region  2,  informed   the
 subcommittee that EPA had not  heard formally from
 officials of New York City. However, EPA Region 2
 is in discussion with those officials,  he stated.

 Ms. Miller-Travis then thanked  Mr. Fields and  the
 OSWER staff for the hard work they had devoted to
 the development of the recommendation report.  Mr.
 Michael Taylor, Vita Nueva, pointed out that failure to
 hold all industries to the same standards  creates
 problems. Ms. Briggum responded that the problem
 remains the number of new facilities.

 Mr. Neftali Garcia Martinez, Scientific and Technical
 Services, asked for information  about action to be
 taken in New York  City and Washington, D.C. Mr.
 Fields told the subcommittee that such information
 would be forthcoming.

 Ms. Mary Nelson,  Bethel New  Life, Incorporated,
 asked Mr. Fields what mechanisms would be used
 to disseminate the information to other regions. Mr.
 Fields responded that the Agency  recognizes that
 there  are similar problems in  other parts  of the
 country. He asked that people inform the Agency of
 areas in great need. The citizen's guide is intended
 to be  used in other communities, he added. Ms.
 Thea McManus, EPA OSWER, also responded that
 the information would be distributed through public
 health groups  and workshops  would be  held to
 discuss implementation.

 Ms. Denise Feiber,  Environmental Science and
 Engineering, Inc., asked how the subcommittee will
 be kept informed  of actions related to the WTS
 issue.  Mr. Fields answered that he would provide
 updates to Ms. Miller-Travis. He also suggested that
 other  members of the  subcommittee could  be
 designated as points of contact.   He  suggested
further that members of the  subcommittee could
 become involved in  focus groups. Ms. Miller-Travis
 observed  that  an   establishment  of  an
 "implementation group" would be appropriate. She
 suggested that the following  individuals serve as
 members of that group: Mr. Garcia Martinez, Ms.
 Briggum,  and Ms. Samara Swanston, The Watch
 Person Project.

 Ms. Swanston then spoke briefly about the approach
 that should be taken in the BMP manual to address
 enforcement in New York City. She also stated that
 no WTSs should be located on waterfronts. Mr.
 Fields added that  the BMP manual will include a
 citizen's  guide that will address  involvement  of
 citizens. Ms. Swanston then stated that the issue of
 clustering is not addressed adequately. Mr. Fields
 responded that  EPA's report on  Municipal Solid
 Waste Transfer Station Action Strategy is a work in
 progress.   He suggested  that members of the
 subcommittee provide additional comments about
 areas they believe require improvement.

 Ms. Eady volunteered to serve as a member of the
 implementation group  and requested that  EPA
 Region 1  should be involved in the  process. Mr.
 Fields then discussed the regional conference calls
 that are held monthly, suggesting that the response
 report be added to the agenda of those conference
 calls.

 Mr.  Mervyn   Tano,  International  Institute for
 Indigenous Resource Management,  stated  that
 some of the  issues discussed in the response
 document  are related  to the development of
 technology. Ms. Briggum added that research and
 development is difficult because of competitiveness
 in industry.  It is difficult,  she noted,  for  specific
 companies to conduct research and  development.
 Mr. Tano added that there is a lack of public
 participation in industry research and development.
 Mr. Fields agreed with Mr. Tano's observation. Mr.
Tano then added that the BMP manual should cover
 processes that occur after a specific BMP has been
 implemented.   For example, processes that take
place after garbage is collected, such as compaction
and disposal should be taken into account.

3.2 Brownfields Work Group

Mr. Taylor updated the  subcommittee  on the
activities  of the  Brownfields Work Group of the
Waste and Facility Siting Subcommittee. Mr. Taylor
began his update with a discussion of the economic
factors in  brownfields redevelopment.  Mr. Taylor
stated  that there  are four key areas in which
communities can have influence on  redevelopment.
Those areas, he said, are: (1) recognize the need or
vision for redevelopment, (2) recognize the business
opportunity, (3) take the initiative, and (4) compile
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Wasfe and Facility Siting Subcommittee
      National Environmental Justice Advisory Council
initial information. Redevelopment planning should
focus on returning benefits to the community, he
declared. Mr. Taylor also stated that the community
should be involved in the land use planning process.
Further, potential exposure pathways  for future
planned  use  should  be  investigated  before
redevelopment, he added.

Mr. Taylor presented to the  subcommittee  draft
recommendations related  to  the involvement of
stakeholders in environmental and land use decision
making. The recommendations  encourage EPA to
"develop a directive that incorporates the following
principles  and audit all programs for their stated
policies,  as  well  as  practices  in  stakeholder
involvement and land  use, against the following
principles  that  support  the  promotion  of
environmental justice.

•   Early and meaningful involvement of affected
    communities in decisionmaking processes.

•   Definitions of "stakeholders" that correspond to
    definitions in American Society for Testing and
    Management  (ASTM)  Standard  E-1984-98,
    particularly the definition of the community as a
    special stakeholder group consisting of those
    who live and/or work around the site.

•   Integration of land use planning,  as it affects
    decisions regarding improvements  in public
    health and the environment,  into all programs.

•   Encouragement of community-based planning
    as a  critical  methodology  for environmental
    protection and promotion of  its use "inside and
    outside the Agency."

The draft  recommendations are meant to involve
communities from the very beginning of the process,
continued Mr. Taylor. Community-based planning is
integral, he said.  Ms. Miller-Travis stated that the
draft  recommendations are  consistent with the
results of the strategic planning session of the
subcommittee held in Washington, D.C. She stated
that  EPA  had  no  authority  to   direct   local
governments in the areas of local land use and
zoning.     She  then stated  her  belief   that
implementation of the recommendations will prevent
lawsuits filed under Title VI of the Civil Rights Act of
1964 (Title VI).   Mr. Fields  responded that the
recommendations point to a real  need and that EPA
already was  examining the issue of community
involvement in local land use and zoning decisions.
Ms. Feiberthanked Mr. Taylor specifically for the first
recommendation, stressing the importance of early
and  meaningful involvement.   Ms.  Brenda Lee
Richardson, Women Like Us, then expressed her
strong support for  the recommendations.   Ms.
Richardson  stated  that  one of  the challenges
communities  face  is  to  establish  a working
relationship with Federal authorities. She challenged
EPA to bring  other Federal agencies involved in
brownfields efforts to the table, suggesting that EPA
facilitate a meeting in Washington, D.C.

Ms. Miller-Travis stated that the subcommittee was
in concurrence with the draft recommendations.

Mr. Johnny Wilson, Clark Atlanta University, asked
whether there is a working definition of the term
"meaningful community involvement."  Ms. Miller-
Travis added that the phrase "critical methodology"
must be defined, as well.

3.3 Superfund Redevelopment  Initiative Work
    Group

Ms. Feiber provided a status report on the activities
of the Superfund Redevelopment Initiative  Work
Group. The purpose of the work group is threefold,
she said:  (1)  to participate in the development of
EPA  policy on the Superfund  Redevelppment
Initiative (Section 4.6 of this chapter describes the
initiative);  (2)  to provide recommendations about
plans to redevelop Superfund sites for productive
and  appropriate reuse; and  (3)  to ensure that
environmental  justice   issues  and  community
outreach efforts are  incorporated meaningfully into
program policies and plans. Ms. Feiber informed the
subcommittee that the members of the work group
had identified  a number of issues and concerns
related to the Superfund Redevelopment Initiative.
Those concerns include remedy selection, education
of remedial project managers and others about the
opportunities that the  initiative  presents, lack of
significant involvement of regional environmental
justice staff in the program, implications of the use of
institutional  controls,   and  the   need for  a
representative of a  potentially  responsible  party
(PRP) to serve on the subcommittee's work group.

Activities of the work group to date had included
review of  proposed guidelines for the document
Superfund Redevelopment Initiative Pilot Program,
conversations  with Ms.  Bonnie Gross, EPA Region
3, about the  Avtex Fibers site  in Front  Royal,
Virginia, and numerous conversations with program
staff, she reported further.
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 National Environmental Justice Advisory Council
              Waste ana Facility Siting Subcommittee
 Ms. Feiber concluded her status report by outlining
 the goals of the work group, listing them as follows:

 •    Define and articulate the concerns of the Waste
     and Facility Siting Subcommittee related to the
     Superfund Redevelopment Initiative.

 •    Define the role of the subcommittee.

 •    Establish how the work group will interact with
     OSWER.

 •    Define concrete ways to have a positive effect in
    the areas of concern identified.

 •    Help achieve the goals of the NEJAC (gather a
     broader range of opinions).

 •    Effectively integrate stakeholder concerns into
     remedy selection.

     4.0  PRESENTATIONS AND REPORTS

 This section summarizes the presentations  made
 and reports submitted to the Waste and Facility
 Siting Subcommittee of the NEJAC.

 4.1 Presentation on International City/County
    Management Association Activities

 Ms.   Miller-Travis   asked   Ms.  Molly  Singer,
 International City/County Management Association
 (ICMA), to update the subcommittee on the activities
 of her organization.   Ms.  Singer informed  the
 subcommittee that ah ICMA  report on institutional
 controls  was  to  be  released  soon.    The
 recommendations set forth in the report are based
 on four years of research, she noted.  Ms. Singer
 then reported that ICMA was working with the city of
 Clearwater,  Florida  to   develop   a  model
 environmental justice plan for conducting effective
 environmental justice and land use activities.  Ms.
 Miller-Travis asked  when the model action  plan
 would be completed.  Ms. Singer replied  that the
 model  plan will be  developed after the city of
 Clearwater provides its views  to ICMA. A draft plan
 should be available within three months and a final
 version of the plan should be available within a year,
 she said.  Ms. Miller-Travis asked that Ms. Singer
 remain in contact with Mr. Benjamin.

4.2 Presentation   on  New  Bethel  Life,  Inc.
    Activities

 Ms.  Nelson presented information about the New
 Bethel Life, Inc. organization.  New Bethel Life, she
 explained, is a community development corporation.
 The organization, she continued, adheres to two
 basic  principles:    (1)  sustainable  community
 development  and  (2)  ecological  integrity  and
 environmental  quality.  Other principles  of the
 organization include high quality of life and public
 participation, she added.  A major environmental
 initiative of the group is local worker training and
 placement, said Ms. Nelson.   She explained that
 New Bethel Life strives to turn liabilities into assets.
 To do  so,  the group identifies available sites,
 performs data collection, and markets information
 about viable sites to redevelopers. Ms. Nelson then
 provided a slide presentation on a site in Chicago
 that was redeveloped with the  help of New Bethel
 Life.

 Mr. Wilson asked about the effect of the project on
 the poor people who lived  in the area before the
 redevelopment  project. Ms. Nelson replied that old
 homes were renovated and new homes were to be
 built. Ms. Miller-Travis asked Ms. Nelson to state the
 demographics of the area.  Ms. Nelson answered
 that the area is 96 percent African American. She
 also stated that membership of the board of directors
 of  the  redevelopment  project   reflects  the
 composition of the community. Mr. Tano asked what
 provisions had been made for home ownership.  Ms.
 Nelson  responded  that many programs, such as
 "Sweat  Equity"   and  cooperative  housing
 opportunities are in place  to help facilitate  home
 ownership for residents of the area.

 4.3 Update on the U.S. Environmental Protection
    Agency  Brownfields  Job  Training  and
    Development Demonstration Pilot Program

 Ms. Myra Blakely, EPA OSPS, provided an update
 on the EPA Brownfields Economic Redevelopment
 Initiative  Job  Training   and   Development
 Demonstration Pilot program. Exhibit 8-3 describes
the Brownfields Job Training  and Development
 Demonstration Pilot Program. To date, she reported
37 job training pilot projects are  in place.

The pilot program establishes links with schools so
that participants can obtain two-  and  four-year
degrees. The majority of the jobs will be created as
a  result of  redevelopment efforts, Ms.  Blakely
reported. Most  of the job training pilots are funded
by the U.S. Department of Labor.  Ms.  Blakely
provided the following statistical information:

•   16 of 21 pilots reported 750 participants.
                                             i
•   495 participants have completed training.
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Waste and Facility Siting Subcommittee
      National Environmental Justice Advisory Council
                                     Exhibit 8-3
      BROWNFIELDS JOB TRAINING AND
   DEVELOPMENT DEMONSTRATION PILOT
                  PROGRAM

  In 1998, the U.S. Environmental Protection Agency
  (EPA) launched a new element of its Brownfields
  Economic Redevelopment Initiative to help local
  communities take advantage of jobs created by the
  assessment and cleanup of brownfields sites, and to
  facilitate the cleanup of these sites - the Brownfields
  Job Training and Development Demonstrate Pilot
  program. Each job training pilot project, located
  within or near a Brownfields Assessment
  Demonstration pilot project, is designed to train
  residents in communities effected by brownfields
  sites. These skills then can be used for future
  employment in the environmental field, including
  conducting cleanups using innovative technology.
  Each pilot project monitors the progress of the
  trainees for at least one year as they seek
  employment in the environmental field.

  Each job training pilot project is awarded up to
  $200,000 over a two-year period. Colleges,
  universities, community job training organizations,
  nonprofit training centers, states, counties,
  municipalities, Federally recognized tribes, and U.S.
  territories are eligible for the job training grants.
•   268 participants are employed in environmental
    jobs.

•   There are pilot programs in all 10 EPA regions.

In response to Ms.  Miller-Travis' inquiry about
funding levels for the pilots, Ms. Blakely stated that
the pilots are funded  at various  amounts up to
$200,000.  That amount of money allows trainees,
for example, to rent cars for transportation to work,
she noted.  Childcare also is made available, she
added.  Ms. Donna Gross McDaniel, Laborers-AGC
Education and Training Fund, then stated that job
training  is  important  in  the  brownfields
redevelopment effort.  She added that she believed
that there must be some way to provide continued
training. Ms. Blakely replied that EPA was exploring
the possibility of providing supplemental funding.
Ms. Nelson suggested that an interagency link be
established for  funding.   Mr. Taylor stated that
trainees often are placed in short-term jobs.  Ms.
Blakely responded that  the  pilot  programs  are
working  to  encourage   employers  to  provide
sustainable employment.  Ms. Eady added that the
Commonwealth  of  Massachusetts is  concerned
about tracking the  pilot  programs.  Ms.  Blakely
stated that the pilots are able to report their progress
accurately.

4.4 Update on  U.S. Environmental Protection
    Agency Social Siting Booklet

Ms. Karen Randolph, EPA Office  of Solid Waste
(OSW), presented the final draft of the EPA Social
Aspects of Siting RCRA Hazardous Waste Facilities.
The booklet was developed at the request of the
Waste  and Facility  Siting Subcommittee of the
NEJAC to serve as a companion to the May 1997
brochure, Sensitive Environments and the Siting of
Hazardous Waste Management (HWM) Facilities.
The May 1997 brochure addressed technical issues
related to the siting of HWM facilities, where the new
booklet, she pointed  out,  focuses more sharply on
the social aspects of the siting of such facilities. The
booklet is intended to help industry and state, tribal,
and  local   government   agencies  develop  an
increased awareness of  communities' concerns
about quality of life that arise when decisions related
to siting are made about HWM facilities.

The next phase  of  the  booklet  project involves
distribution, said Ms. Randolph. The booklet will be
available on the Internet, she announced.

Mr.  Benjamin thanked   the  members  of the
subcommittee and the staff of OSW who had worked
on the  booklet project.  Ms. Miller-Travis asked
whether EPA would look to the  document for
guidance. Mr. Shapiro responded that, with respect
to community involvement, EPA will use the booklet.
Ms. Patricia Hill Wood, Georgia Pacific Corporation,
suggested  that the  booklet should be distributed
widely.

4.5 Discussion of Socioeconomic Vulnerability

Mr. Michael Callahan, EPA Office of Research and
Development  (ORD),  discussed  the topic  of
cumulative risk.   Mr. Callahan defined  cumulative
risk as  the combined risks posed  by two or more
agents  or stressors.  Mr. Callahan expressed his
interest in learning the views of the members of the
Waste and Facility Siting Subcommittee about what
components should be included in a framework to be
developed on assessing cumulative risk. Ms. Miller-
Travis  reviewed several points for the members of
the subcommittee who had not been present at the
Executive Council in December  1998  when the
subject was discussed. No community is exposed to
only one chemical or contaminant, she said.  The
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National Environmental Justice Advisory Council
              Waste and Facility Siting Subcommittee
question  of  how  environmental   protection   is
considered in cases of multiple exposures is being
examined, she  continued, and that a system or
method for the identification of synergistic effects is
needed. Mr. Callahan then stated that the document
to be developed would be a broad overview, similar
to an ecological framework document. The issue of
synergy will involve identifying those factors that are
important, he said. The primary audience of the new
framework document will be staff of EPA, he noted,
although, the document should serve people outside
EPA, as well. Mr. Callahan then pointed out that risk
assessment is a tool.

Ms. Eady  asked  when  the  draft document was
expected to be completed. Mr. Callahan replied that
the draft should be  available  in approximately 16
months. Ms. Eady  also asked how EPA would
consider cross-media exposure.   Mr.  Callahan
answered that  the framework would examine all
factors that affect the population. He stressed that
the framework will be a "science document," not a
"policy document."

Mr. Tano stated that the science of probability is
inexact at  best.   Mr. Callahan agreed that  data
associated with risk  assessment is uncertain.  Mr.
Tano then asked  whether, with respect to health
effects, the framework would focus on specific age
groups. Mr. Callahan replied that it would focus on
that issue.

Ms. Richardson asked how data would be validated
and what role local health departments would  play.
Mr. Callahan responded that there is a  science
aspect  of  probability  and a  policy aspect, for
example, the level of probability of harm is a policy
decision, he observed. Ms. Richardson responded
that policy and science must go hand-in-hand.

Ms. Miller-Travis asked how the peer review process
would take place under the framework. Mr. Callahan
responded that the first cycle of the process is the
gathering  of questions  from the  appropriate
stakeholders.  Ms.  Miller-Travis asked whether
members of an affected community are stakeholders
in the process.  Mr. Callahan replied that they are.
Ms. Miller-Travis then stated that the subcommittee
should continue to discuss the topic and should also
develop a  mechanism for involving all the other
subcommittees of the NEJAC in the review of the
proposed framework.
4.6 Update on U.S. Environmental Protection
    Agency Superfund Redevelopment Initiative

Mr. John Harris, EPA  Office of Emergency and
Remedial Response (OERR), presented information
about the status of the Superfund Redevelopment
Initiative.   Exhibit  8-4  describes the  Superfund
Redevelopment Initiative.  He reported that 10 pilot

                                      Exhibit 8-4
     U.S. ENVIRONMENTAL PROTECTION
   AGENCY SUPERFUND REDEVELOPMENT
                 INITIATIVE

  On July 23,1999, the U.S. Environmental Protection
  Agency (EPA) announced the Superfund
  Redevelopment Initiative, a coordinated national
  effort to help communities redevelop formerly
  contaminated Superfund sites and return them to use
  as new parks, retail operations, and industrial
  facilities. Through the initiative, EPA will help
  communities convert environmental liabilities into
  community assets. At every cleanup site, EPA will
  ensure that there is an effective process and the
  necessary tools and information needed to fully
  explore future use are available before EPA
  implements a cleanup remedy.

  EPA has begun to implement the initiative on a
  pilot-project basis to demonstrate and improve the
  techniques it has developed after having studied the
  redevelopment process at sites at which reuse
  already has occurred. The Agency also is refining
  policies; building partnerships; sharing information
  about successful reuse; and informing local
  governments, community groups, developers, and
  other affected stakeholders about options available
  in the redevelopment of Superfund sites.

  For more information about the initiative, visit
  EPA's Internet home page at
  .
projects have been selected on a noncompetitive
basis since July 1999 and that one reuse plan has
been completed.  Mr. Harris then stated that  a
second-round  competitive  process   had  been
announced in December 1999. During that process,
56 proposals were received, and sites in 26 states
had been selected.  The criteria used in evaluating
proposals  included  project   strategy,  budget,
Superfund  cleanup phase,  expected  role of the
current or future site  owner, expected role of the
state, and clearly identified additional value through
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the   assistance   of  EPA,   he  continued.
Recommendations of proposals for acceptance were
to be made to Mr. Fields on June 6, 2000, he said,
and pilot awards would be announced in mid-June,
2000.

Upon finishing his status report, Mr. Harris asked the
members of the subcommittee to help identify the
need for a third round of pilot projects. Ms. Miller-
Travis agreed that the subcommittee would do so.
Mr. Harris asked how his office could reach potential
applicants.   Ms. Miller-Travis then asked whether
PRPs know the process is available.  Ms. Feiber
asked where to obtain  information about  the
initiative. Mr. Harris replied to Ms. Feiber that a "fair
amount" of information is available on the Internet.
Ms. Feiber then asked how post-record of decision
(ROD) activities would be addressed. Mr. Harris
responded that there is greater opportunity for  pre-
ROD involvement.

4.7 Status Report on the Relocation Policy  and
    Forum

Ms. Suzanne Wells, EPA OERR and Ms. Pat Carey,
EPA  OERR, presented a status  report  on  the
relocation policy and forum.  Exhibit 8-5 describes
background information about the relocation policy.

                                     Exhibit 8-5
  BACKGROUND INFORMATION ABOUT THE
            RELOCATION POLICY

  In January 1995, the Waste and Facility Siting
  Subcommittee of the National Environmental Justice
  Advisory Council (NEJAC) requested that the U.S.
  Environmental Protection Agency (EPA) develop a
  policy to be used in determining when citizens
  should be relocated from residential areas near or
  affected by Superfund sites.  EPA initiated the
  national relocation pilot project at the Escambia
  Woodtreating Superfund Site in Pensacola, Florida.
  EPA reviewed sites at which cleanups were
  conducted in residential areas and solicited the views
  of stakeholders by sponsoring a series of forums to
  provide stakeholders the opportunity to share their
  views and experiences.
In 1996 and 1997, reported Ms. Wells, seven forums
were held for representatives of industry; state and
local  government;  and   public  health,  tribal,
environmental justice,  and other agencies.   She
explained that on June 30,  1999, the Interim Final
Policy on the Use of Permanent Relocations as Part
of Superfund Remedial Actions was issued, she
continued.  The document, Ms. Wells continued,
discusses   the  circumstances   under  which
permanent relocation should be conducted as part of
cleanup at a site that is included  on the National
Priorities List (NPL). The policy provides examples
of situations in which permanent relocation could be
considered, she said.   The policy  also stresses
community involvement in relocations, said Ms.
Wells.

A multistakeholder meeting was held in Washington,
D.C. in March  2000, continued Ms. Wells.  The
meeting  provided stakeholders  the  opportunity to
share  their  comments  on  both  policy  and
implementation  issues.    Characteristics  of   a
successful  relocation  were  identified during  the
meeting, she added.

The next steps in the development of the final policy
involve the  completion  of  case  studies,  the
development of "mini-guidance" documents,  the
conduct of outreach forums, and the implementation
of the guidance, said Ms. Wells.

4.8 Presentation by the U.S. Department  of
    Transportation on  the  Uniform Relocation
    Act

Mr.   Ronald   Fannin,   U.S.  Department   of
Transportation (DOT), and Mr. Reginald Bessmer,
DOT,  presented  information about the  Uniform
Relocation Assistance and Real Property Acquisition
Policies Act of 1970. Mr. Fannin explained that the
intent of the act is to solve problems affecting people
and reimburse  the costs associated with moving.
This act, he explained, governs what the Federal
government can and cannot do in relocating people.
Information  about  the   act  can   be  found  at
, they noted. Ms. Miller-Travis pointed out that
the act is the lawthat governs Superfund relocations.

4.9 Guidance for Reducing Toxics Loadings

The Air and Water Subcommittee held  a joint
session  with  the  Waste  and   Facility  Siting
Subcommittee to discuss EPA's draft guidance  for
the efforts of local areas  to reduce levels of toxics.

Mr. Fields acknowledged the efforts of Ms. Dana
Minerva, Deputy Assistant Administrator of EPA
Office of Water (OW) and  Mr. Robert Brenner,
Acting Deputy Assistant Administrator of EPA Office
of Air and Radiation (OAR) to reduce toxics loadings
in overburdened  areas.   He  introduced  a draft
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guidance proposed by EPA that is  intended  to
provide ideas  and incentives to  help  states and
localities reduce levels of toxics in their communities.
He explained that the guidance describes a priority
process for approval of state implementation plans
(SIP) that include toxic reduction plans, financial
support for programs  under which environmental
justice  issues  are  addressed,  and   Federal
recognition of state and local programs intended to
reduce levels of toxic pollutants. He added that the
guidance also includes an appendix that describes
ways in which state and local governments can work
together to reduce pollution in their communities.

Mr.   Fields   asked  members  of   the  two
subcommittees for their comments.  He asked that
they provide their opinions about whether the
guidance is adequate and complete and whetherthe
administrative benefits are sufficient to encourage
state, local, and tribal governments to participate in
achieving reductions in levels of  toxics.  He also
asked for additional incentives that may encourage
various sectors to participate.  He asked that the
subcommittee  review  the  guidance and provide
comments to Ms. Jenny Craig, EPA OAR, by June
30, 2000.  Mr. Fields added that  EPA would then
revise  the  guidance  in response  to  comments
received and present the  revised version to the
subcommittee for the next meeting of the NEJAC.

Ms. Nelson commented that the incentives currently
listed in the draft guidance "sound wonderful," but
stated that she would expect that many governments
will not participate.  She asked whether there were
any regulatory  mechanisms that could be used  to
encourage participation. Mr. Fields responded that
the effort must  be voluntary, since  there currently is
no regulatory mandate to participate. He added that
EPA therefore must provide good incentives.

Ms.  Rosa Hilda Ramos, Community  of Catano
Against Pollution and member of the Air and Water
Subcommittee  of the  NEJAC,  asked  why the
guidance covers only hazardous ortoxic substances.
Ms. Craig explained that each EPA program uses a
different definition  of   hazardous  and  toxic
substances.  She stated that, in the guidance, those
terms have a general meaning.  Ms. Craig added
that the definitions of those terms would be stated in
the guidance.

Mr. Tano stated that, as EPA reviews risk factors
associated with toxic substances, the successes and
failures of reduction efforts can be measured.
Mr. George Smalley, Manager, Constituency and
Community Relations, Equiva Services LLC, served
as proxy for Ms. Clydia Cukendall, JC Penney and
member of the Air and Water Subcommittee of the
NEJAC, asked what sources of funding are available
to local municipalities for the replacement of diesel
buses with buses that run on alternative fuels, an
action recommended in the guidance.   Ms. Craig
responded that EPA currently does not have grant
money available for that or other activities described
in the guidance.   She  emphasized  that  good
incentives  are  the key to making the voluntary
program  work. Ms. Marianne Yamaguchi, Director,
Santa Monica Bay Restoration Project and member
of the Air and Water Subcommittee of the NEJAC,
added that resources are the  greatest incentive.
She  suggested that  pilot studies  be  used to
"kickstart" the program, technical assistance training
be provided to governments  on implementing the
program, and that efforts be made in direct outreach
to specific  communities that  are interested in the
program.   Ms.  Nelson asked that EPA consider
encouraging the pooling of the resources of various
government programs, for example, through Agency
partnerships. Mr. Fields agreed that the suggestions
made by the members of the subcommittee were
valuable.

Ms. Ramos commented that most of the pollution in
affected communities likely originates in industries
that probably would not participate in such programs.
Mr. John Seitz, Director,  EPA  OAR at Research
Triangle Park, responded that he is encouraged by
the positive outcome of the 3350  program, which
was the precursor of the Toxic Release Inventory
(TRI)  voluntary reporting  program.  Mr. Leonard
Robinson, TAMCO and member  of the Air  and
Water Subcommittee  of  the NEJAC,  expressed
agreement with Mr. Seitz.

Referring to local efforts  to develop  goals  and
measure progress, Ms. Eileen Gauna, Professor of
Law,  Southwestern University of Law,  asked  that
more  guidance be provided to overburdened areas
that  may need  more  aggressive strategies for
reducing  levels  of toxics than other communities.
Mr. Fields agreed that areas that are overburdened
may require more aggressive plans.

Ms. Wood stated that she understood the objective
of examining   existing  statutes  and  enforcing
environmental justice elements  in  those statutes.
However, she  questioned the applicability of the
guidance to any particular region; it would be "in the
eye of the beholder" or the resident who lives in an
area,  she said, whether his or  her community is
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overburdened. Ms. Wood added that perhaps EPA
should focus the guidance on assessing the relative
burden of pollution in the communities.

Ms. Miller-Travis commented on the retrofitting of
diesel engines in New York City. She reported that
she had worked with EPA Region 2 and the state of
New York to encourage use of alternative fuels by
making  public funding available.   However, she
explained, the Metropolitan Transportation Authority
(MTA) had blocked their progress. She said that she
would like to use regulatory tools to bring MTA to the
table, but does not wish to create incentives to help
that agency take an action it had failed in the past to
take to comply with the law. Referring to the pilot
studies as suggested by Ms. Yamaguchi, Ms. Miller-
Travis also acknowledged that it is difficult to find a
source of funding, but financial help should not be
provided to MTA to take an action  that should be
required of it. The money should be directed toward
implementation of  innovative  technologies,  she
suggested.

To  clarify the issue,  Ms.  Craig stated  that the
guidance and financial support are not intended to
help industries or municipal agencies comply with
existing laws.   She said that  they are meant to
encourage  voluntary  efforts  to  "go above  and
beyond" existing regulations, adding that compliance
with existing laws is assumed.

Ms. Eady said that her state had used provisions of
the National Environmental Policy  Act (NEPA) to
prompt the  transit authority to use alternative fuels.

Ms. Minerva addressed the issue of voluntary rather
than regulatory  programs.   She  presented  the
example of EPA OW's total maximum daily loads
(TMDL) program, which asks states to identify water
bodies that do not meet water quality standards.
She  explained that EPA OW envisioned that, as
states identified their impaired water bodies,  they
would take regulatory steps to ensure that the water
bodies meet water  quality standards and  take
additional voluntary steps to manage future growth
in neighboring communities.   She  stated  that
regulatory compliance and voluntary efforts should
work together.

Mr. Wilson reported  that  while EPA laboratory
reports may indicate that water quality in an  area
meets the maximum contaminant level (MCL), he
had noticed during his inspections of drinking-water
supplies in various Georgia counties that the results
are contradictory. He said that he had been told by
a technician for a drinking water unit that the water
was contaminated, but the concentrations of the
contaminants  were  not  high  enough  to  be
considered a problem.  Yet, an African American
woman in that same community drew waterf ram the
faucet that bubbled in her glass.   Ms. Minerva
responded that MCLs and TMDLs fall under different
EPA OW programs. She and Mr. Wilson agreed to
discuss  the issue further after the subcommittee
meeting.

Ms. Minerva stated the EPA OW would be interested
in  helping  communities  conduct a  pilot study.
However,  she acknowledged that  funding is  an
issue.   She  added that  her office's  incentives
primarily would encourage early response to issues.
Dr. Michel Gelobter, Graduate Department of Public
Administration, Rutgers University and chair of the
Air and Water Subcommittee of the NEJAC, asked
about financial  help   through  National  Permit
Discharge Elimination  System (NPDES) or state
revolving funds.  Ms. Minerva responded that EPA
had not given extensive consideration to the possible
use of those sources.

Mr. Tano noted that there are similarities between
the goals of the guidance and those of national and
international standard-setting organizations, such as
the International Standards Organization (ISO). He
suggested that there should be link between the
programs  of such organizations  and  Federal
procurement  policies,  through  which  a  local
government can become eligible for  Federal
procurement if it receives a form  of "certification."
Mr. Fields said that that form of 'Voluntary coercion"
would be considered  as  the draft guidance  is
revised.

    5.0  SUMMARY OF PUBLIC DIALOGUE

When Ms. Miller-Travis opened the floor to public
dialogue, the following comments were offered.

5.1 The Tri-State Environmental Council, Save
    Our Community (SOC), inc.

Mr. Alonzo Spencer, Save Our Community, Inc.
(SOC), told the members of the subcommittee about
the Waste Technologies Industries (WTI) hazardous
waste incinerator located in East Liverpool, Ohio.
The  incinerator  accepts  more than 200 mixed
chemical wastes brought in by rail and truck, he said.
Currently, the incinerator does not have a permit to
operate,  and the owners of  the  incinerator are
seeking  to renew the permit, charged Mr. Spencer.
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             Waste and Facility Siting Subcommittee
SOC, he continued, had been struggling for more
than 20 years against hazardous waste facilities.
WTI had changed ownership three times, violating
Ohio state law, he stated.

Ms.  Terry  Swearigen,  SOC,  then  informed  the
members of the subcommittee that two children
living in close proximity to the incinerator suffer from
rare forms of eye cancer. Contamination from the
incinerator is the suspected cause, she said. Ms.
Swearigen  then  requested that the Waste and
Facility  Siting   Subcommittee  encourage   the
Administrator of EPA not to renew WTI's operating
permit and asked that members of the subcommittee
attend a hearing concerning the incinerator that was
to be held in August 2000.  Ms. Wood asked when
the permit had expired.  Ms. Swearigen responded
that the permit became active in 1985 and expired in
1995.  Ms. Miller-Travis asked Mr. Shapiro and Mr.
Fields to investigate the issue of the permit.  Mr.
Shapiro stated his belief that EPA Region 5 currently
was investigating the matter.  Ms. Miller-Travis
assured Mr. Spencer and Ms. Swearigen that the
subcommittee would follow-up on all actions taken
by EPA.  In response to Ms. Swearigen's question
whether the subcommittee could work with  the
ombudsman, Mr. Shapiro responded that it could.
Ms. Miller-Travis then asked Mr. Shapiro to facilitate
discussions with the ombudsman.

5.2 The   Alabama   African-American
    Environmental Justice Action  Network and
    the Southern  Organizing  Committee  for
    Economic and Social Justice

Ms.  Ann  Smith, Ashurst  Bar/Smith Community
Organization and Ms. Connie Tucker,  Southern
Organizing  Committee for Economic  and  Social
Justice  and former member of the Waste and
Facility  Siting  Subcommittee,  spoke to   the
subcommittee about a landfill located in Tallapoosa
County, Alabama.  Garbage from 18  counties is
dumped in the 30-acre unlined landfill, they reported.
The  landfill is located in a community that is 98
percent African American, Ms. Smith said, adding
that EPA had not provided sufficient oversight of
state  programs.    Ms. Smith submitted to  the
subcommittee a written statement describing various
other sites  in counties in  Georgia, Alabama, and
Louisiana  that   have  concerns   related  to
environmental justice.  When Mr. Benjamin asked
Ms. Smith what action she wished the subcommittee
to take, Ms. Smith responded that she would like the
subcommittee to launch an immediate investigation
of sites regulated  under RCRA in the state of
Alabama,  concentrating  on  both  closed  and
operating  landfills.   She also requested  that the
subcommittee recommend that EPA contact the U.S.
Inspector General to conduct audits of the adequacy
and performance of state programs funded by EPA.

Ms. Nelson asked Ms. Smith whether the landfill in
Tallapoosa County, Alabama was open. Ms. Smith
responded that the landfill currently was closed, but
that an active effort was underway to obtain a permit
for the facility.

Ms. Gross McDaniel noted that the requests made
by Ms. Smith seemed very broad and asked for
more specific requests.  Ms. Smith responded that
the requests were not very broad and reiterated her
request thatthe subcommittee recommend that EPA
inspect programs under RCRA conducted by states.
Mr. Fields interjected that OSWER can work with
EPA regions 4  and 6 to  accumulate statistical
information about compliance with RCRA permits
and  enforcement actions taken, with  a focus on
Alabama, Georgia, Mississippi, and Texas.

Ms.  Tucker  added  that  she  would  like  the
subcommittee to visit Louisiana and tour  "Cancer
Alley."    Ms.  Miller-Travis  responded that  the
subcommittee  could send  a delegation  as an
immediate response.

5.3 Cleanup Standards  on  Nomans   Island,
   Massachusetts

Mr. Jeff Day and Ms. Beverly  Wright, Aquinnah
Wamanoag Tribe, presented information about the^
lack  of cleanup standards on  Nomans  Island,
located in Weymouth, Massachusetts.   While
Nomans Island is part of the South Weymouth Naval
Air Station, it was not included on the listing of the
naval air stations on the NPL, they explained. The
Massachusetts   Department  of   Environmental
Protection  was  able  to  persuade  the  U.S.
Department of Defense (DoD) to conduct a limited
removal of exposed unexploded ordnance (UXO)
from the island, they continued. Mr. Day stated that
the surface removal did not remove UXO embedded
below the  ground surface, below mean low tide, in
cliff faces, in coastal ponds, or in wetlands.  A study
done by the Massachusetts Department of Public
Health for the years 1987 through 1994 found that
female residents of the town of Aquinnah (which
includes all 540 acres of tribal trust lands) had a
cancer rate that was 93 percent higher that than the
average  rate for Massachusetts,  he continued.
Contamination from Nomans Island is the suspected
cause, he said.  The Aquinnah  Wamanoag Tribe
believes there is  a correlation between the cancer
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rates  and carcinogenic materials known to be
present on Nomans Island, he stated. The tribe
would like EPA to conduct an investigation under the
provisions of the Clean Water Act and the Clean Air
Act, said Mr. Day.

Further, the Aquinnah Wamanoag Tribe would like
the Waste and Facility Siting Subcommittee to
support a recommendation that EPA intercede with
DoD to urge that Nomans Island be cleaned up and
to work with the Wamanoag Tribe in that process.

Ms. Miller-Travis compared the cleanup of Nomans
Island with that of the island of Vieques, Puerto Rico.
No cleanup standards have been set, she noted.
Ms. Eady informed the subcommittee that only
approximately one-third of all bombs on the island
actually had exploded. Because of the habitat and
wetlands on the island, the state of Massachusetts
does not want to explode the remaining UXO, she
continued.   Further,  she  added, there  is  clear
evidence  that  people  are  using the  island.
Institutional controls  placed  on the  island are
ineffective, she observed.

Ms. Miller-Travis proposed that the  subcommittee
draft a resolution recommending that EPA request
cleanup by DoD. The resolution would be presented
to the Executive Council  of  the  NEJAC for
consideration, she noted. She also recommended
that the subcommittee continue its discussion with
the Aquinnah Wamanoag Tribe and work with the
Indigenous Peoples Subcommittee to address the
issue.

       6.0 SIGNIFICANT ACTION  ITEMS

This section summarizes the significant action items
adopted by the subcommittee.

The members of the subcommittee adopted the
following action items:

/  Continue to work with the WTS Work Group on
    the development of the draft status report, EPA's
    Municipal Solid Waste Transfer Station Action
    Strategy.

/  Provide  OSWER with points of contact for
    informing the subcommittee about OSWER's
    implementation of the BMPs presented  in the
    draft  report,  EPA's Municipal  Solid  Waste
    Transfer Station Action Strategy.
Discuss with EPA  Office of  Environmental
Justice the development of a mechanism for
involving  all  subcommittees,  through  a
representative  work  group,  in  the ongoing
discussion of the cumulative risk framework.

Identify all actions taken by EPA Region 5 in
response  to  community concerns  about
permitting issues related to the WTI incinerator
in East Liverpool, Ohio.

Recommend that EPA regions 4 and 6 develop
and provide  to the Alabama African-American
Environmental Justice Action  Network and the
Southern Organizing Committee for Economic
and Social Justice statistical information about
compliance  with  permits and  enforcement
actions  taken  in those  regions focusing on
Alabama, Georgia, Mississippi, and Texas.

Prepare for the approval of the  Executive
Council a   resolution requesting  that   EPA
intercede with DoD to urge that DoD cleanup
Nomans Island, Massachusetts and work with
the Wamanoag Tribe in that process.

Recommend to the Executive Council that a
resolution be developed to support the formation
of a NEJAC work group  to assist ATSDR and
EPA in following public participation protocols
pertinent to issues of environmental justice and
to focus on bringing about resolution of issues of
concern  to  the  community  of  Mossville,
Louisiana.
 8-12
                                                                     Atlanta, Georgia, May 25,2000

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                     MEETING SUMMARY
                           of the
     JOINT SESSION OF THE HEALTH AND RESEARCH AND THE
          WASTE AND FACILITY SITING SUBCOMMITTEES
                           of the
     NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                        May 25, 2000
                     ATLANTA, GEORGIA
     Meeting Summary Accepted By:
Kent Benjamin
Office of Solid Waste and
 Emergency Response
U.S. Environmental Protection
 Agency
Designated Federal Official

                             Vernice Miller-Travis
                             Chair of Waste and Facility
                             Siting Subcommittee
Marine!le Payton
Chair of Health and Research
 Subcommittee


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                                        CHAPTER NINE
              SUMMARY OF THE JOINT SESSION OF THE HEALTH AND RESEARCH
                   AND THE WASTE AND FACILITY SITING SUBCOMMITTEES
             1.0 INTRODUCTION

The Health and  Research Subcommittee and the
Waste and  Facility Siting Subcommittee  of the
NEJAC met in a joint session on the afternoon  of
Thursday, May 25, 2000, to discuss the exposure
investigation   of  Mossville,  Calcasieu  Parish,
Louisiana, conducted  by the  Agency  for Toxic
Substances  and Disease Registry (ATSDR)  in
November  1999.  Invited guests  (stakeholders)
participating   in  the  joint   session  included
representatives of Mossville Environmental Action
Now  (M.E.A.N.), GreenPeace  International, the
Louisiana Department  of Health  and  Hospitals
(LDHH), the Louisiana Department of Environmental
Quality (LDEQ), the Louisiana Chemical Association
(LCA), U.S. Environmental Protection Agency (EPA)
Region 6, and ATSDR. Exhibit 9-1 presents a list of
the stakeholders who attended the meeting  and
participated in the discussion.

This chapter, which provides a summary  of the
deliberations of the joint session is organized in four
sections, including this Introduction. Section 2.0,
Remarks, presents summaries  of  the  remarks
offered   by  various  speakers.     Section  3.0,
Presentations, summarizes the presentations on
Mossville. Section 4.0, Question and Answer Period,
summarizes the  questions by the members of the
subcommittee and the responses received.

                2.0 REMARKS

Mr. Barry Hill, Director, EPA Office of Environmental
Justice  (OEJ),  and   Mr.   Kent Benjamin,
Environmental Justice Coordinator,  EPA Outreach
and Special Projects Staff (OSPS),  Office of Solid
Waste and Emergency Response (OSWER)  and
Designated Federal Official (DFO) of the Waste and
Facility Siting Subcommittee of the NEJAC, served
as facilitators for the joint session.  Mr.  Benjamin
served as the DFO.

Mr. Hill opened the joint session by explaining that
the purpose  of  the  session was  to allow the
members of  the subcommittee  to gather from
stakeholders   information  about  the  Mossville
exposure investigation report so that the NEJAC
would be able to  identify a meaningful approach to
addressing the environmental justice issues related
to  the  investigation  and   make  appropriate
recommendations to EPA.
                                                                                     Exhibit 9-1
      JOINT SESSION OF THE HEALTH AND
   RESEARCH AND THE WASTE AND FACILITY
           SITING SUBCOMMITTEES

                  Stakeholders
          Who Attended the Joint Session
                 May 25,2000

       Mr. Edgar Mouton and Ms. Dorothy Felix
         Mossville Environmental Action Now

         Dr. Pat Costner and Mr. Damu Smith
             GreenPeace International

       Mr. Jerry Clifford and Mr. Gregg Cooke
     U.S. Environmental Protection Agency Region 6

  Dr. Henry Falk, Dr. Ken Orloff, and Dr. Reuben Warren
    Agency for Toxic Substances and Disease Registry

       Dr. Joseph Sejud and Ms. Dianne Dugas
      Louisiana Department of Health and Hospitals

                Mr. Edward Flynn
          Louisiana Chemical Association
Mr. Benjamin  reviewed the agenda  of the joint
session and urged participants to adhere to the time
schedule set forth in the agenda.   He told the
audience that the joint session would unfold as a
discussion  between the NEJAC and the panelists
that had been invited to address the subcommittees.
He reminded the audience that the public was invited
to observe the proceedings, but that observers would
not be permitted to participate in the discussion.

Dr. Marinelle Payton, Environmental-Occupational
Medicine,   School of Public  Health,  Harvard
University Medical School and chair of the Health
and  Research Subcommittee  of the  NEJAC,
welcomed the stakeholders to the joint session. She
noted that the joint session had been organized in
response  to a  request  by Mr. Damu  Smith,
Campaigner, GreenPeace International, that the
Health and  Research Subcommittee  review and
consider the Mossville exposure investigation. Dr.
Payton reiterated that the  purpose  of the joint
session was to  allow the  members  of the two
subcommittees and the stakeholders the opportunity
to discuss  the Mossville exposure  investigation
report.
Atlanta, Georgia, May 25,2000
                                          9-1

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Joint Session of the Health and Research
and the Waste and Facility Siting Subcommittees
      National Environmental Justice Advisory Council
Ms.  Vemice  Miller-Travis,  Executive  Director,
Partnership  for   Sustainable  Brownfields
Redevelopment and chair of the Waste and Facility
Siting Subcommittee of the NEJAC, noted that, since
1996, the Waste and Facility Siting Subcommittee
had  had  discussions  with  representatives  of
M.E.A.N.  and  residents  of Lake  Charles and
Calcasieu Parish, Louisiana that are formally on the
record through public comment periods  of the
NEJAC. Continuing, she stated that the members of
the community had  asked the subcommittee  for
support and intervention.  She emphasized that the
Waste and Facility Siting Subcommittee viewed the
joint session as a major step forward in the effort of
the subcommittee to  respond proactively on behalf
of the NEJAC to the environmental justice issues
that have been brought to that body's attention by
members of the affected communities over the past
four years.

Mr. Jerry Clifford, Deputy Regional  Administrator,
EPA Region 6, began the presentations by providing
a geographical description and background of the
community of Mossville. Mossville, he reported, is
located in Calcasieu Parish in the southwest corner
of Louisiana.   He explained  that,  in  1997,  the
population of Calcasieu Parish was  approximately
180,000, according to records of the Bureau of the
Census, and that-the parish is some 1,000 square
miles in  area.  The community of  Mossville,  he
continued, has a population of approximately 900 to
1,000.  Mr. Clifford  noted  that Mossville is  an
unincorporated portion of Calcasieu Parish and is
located between the communities of Westlake and
Sulphur, Louisiana.

Mr. Clifford explained that there are more than 800
regulated facilities in  Calcasieu Parish, noting that
some  200 of  those  facilities are relatively large
industrial operations.  He stated that the industries in
the area include refineries; petrochemical facilities
that produce  industrial  organic chemicals; and
chemical preparation facilities.

Mr. Clifford stated that, according to Toxics Release
Inventory (TRI) data released by EPA in March 1999,
roughly 13,000 tons of volatile organic compounds
(VOC) are emitted each year by industrial facilities in
the Mossville area.   More than 13 million tons of
hazardous waste are generated in Calcasieu Parish.
According   to  EPA's   Emergency  Response
Notification  System,  accidental  releases from
industrial facilities result in the discharge of more
than 500,000 pounds per year of hazardous waste
into the environment,  Mr. Clifford stated.
Mr.  Clifford  stated  that  significant  chemical
contamination  of the  Calcasieu  Estuary  has
occurred.   The  most extensive  release  to the
estuary,  he continued, was  a five- to six-million-
gallon spill of ethylene dichloride into the estuary
between Lake Charles and Prien Lake, located south
of Mossville.  Mr. Clifford stated that fish advisories
have been issued forthe Calcasieu Estuary because
of health considerations related to human ingestion
of bioaccumulated contaminants in fish and shellfish
harvested by local and commercial fishermen in the
estuary and waterways connected to it.

Mr. Clifford then stated that seven facilities regulated
under the Resource Conservation and Recovery Act
(RCRA) are subject to corrective action. He noted
that there was groundwater contamination at each of
those seven facilities. He added that a private party
had just  begun cleanup at North Ryan Superfund
Site, a former coal gassification facility located in the
community of North Ryan. He stated that coal tar
was the primary contaminant of concern at the North
Ryan site.

            3.0  PRESENTATIONS

This section summarizes presentations on Mossville.

3.1 Review  of  Findings  Presented  in the
    Exposure Investigation: Calcasieu Estuary
    (Mossville), Louisiana

Mr. Edgar Mouton, President, M.E.A.N., expressed
his appreciation  to  the  members of  the two
subcommittees for the opportunity to represent his
community by voicing the environmental problems
and needs of his community.  He introduced Dr. Pat
Costner, Senior Scientist, GreenPeace International,
who provided a brief overview of her interpretation of
the findings in the  Mossville exposure investigation,
which identified the presence  of contamination with
dioxins and polychlorinated biphenyls (PCB)  in the
community of Mossville.

Dr. Costner stated that the information collected by
ATSDR during the exposure investigation supported
the following conclusions:

•  The average concentration of dioxins and PCBs
   found in the blood of 28 residents of Mossville is
   more than three times higher than the average
   background level in the general population, as
   represented by ATSDR's  comparison group.

•  On the basis of EPA's recent estimate of cancer
   risks caused by background dioxin exposure of
   the general population at  1 in 100 persons to 1
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 National Environmental Justice Advisory Council
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     in 1,000 persons, the cancer risks of Mossville
     residents  may average more than three times
     higher  than the risk  among  the  general
     population.

     The dioxin levels detected  in blood samples
     from residents of Mossville indicate that the body
     burdens of the residents are at levels consistent
     with the occurrence of adverse health effects,
     such as increased susceptibility to viral disease
     and  decreased sperm count.   The adverse
     health effects have been documented in studies
     of several species of laboratory animals.

     The  profile  of  relative concentrations of  the
     seventeen most toxic dioxin congeners in blood
     samples from residents of  Mossville differed
     substantially from  that for ATSDR's comparison
     group,  suggesting  that  one  or more local
     sources of dioxin are contributing to the elevated
     blood dioxin levels in residents of Mossville.

     The blood levels of PCB congeners in residents
     of Mossville are an average of 2.8 times higher
     than the  average levels  found in  ATSDR's
     comparison group. Further, in a manner similar
     to that for unique dioxin profile detected in blood
     samples,  the unique profile of the  congener
    types and concentrations of PCBs suggests that
    one  or more  local sources of PCBs are
    contributing to the elevated blood PCB levels in
     residents of Mossville.

    The total concentrations of dioxin and the total
    concentrations  of PCBs  detected  in blood
    samples of the residents of Mossville appear to
    be independent of one another, suggesting that
    the chemicals may be released by different
    sources.

    Only one breast milk sample was collected and
    analyzed  for dioxin  and  PCBs.  The total
    concentration of dioxins and the concentrations
    of PCB  congeners detected in the breast milk
    sample were 30 percent higher than the average
    concentration in  the general population of
    nursing mothers in the United States from 1995
    to 1997. That result supports the conclusion
    that  some infants  living  in Mossville  may
    experience  higher  prenatal  and   postnatal
    exposure to dioxins than the average infant in
    the United States.

    Two eggs from chickens raised by residents of
    Mossville carried concentrations of dioxins that
    were   some  50  percent  higher   than
    concentrations measured in a supermarket egg
     and 23 percent higherthan concentrations found
     in eggs collected in an uncontaminated area in
     the state of California.

 •   Concentrations  of dioxins  detected  in  soil
     samples from the yards of three residences in
     Mossville were an  average of 17 times higher
     than  concentrations  detected  in  rural  soil
     samples and an average of 1.5 times higher
     than concentrations detected in urban soils from
     various locations  in  the United States and
     Canada.

 Dr.  Costner stated that, in  general, GreenPeace
 supports the recommendations made by ATSDR as
 presented in the  ATSDR exposure investigation
 report, with the added provision that PCBs and other
 dioxin-like  chemicals   be   included   in  future
 investigation activities.   Exhibit  9-2   presents
 recommendations set  forth by  ATSDR  in  the
 exposure investigation  report.

 Dr.  Costner further requested that ATSDR, EPA,
 LDEQ, and other relevant entities take the following
 actions,   either  working  with  the   Mossville
 Environmental Justice Work Group (coordinated by
 ATSDR) or as a separate  initiative, such as a
 collaborative, interagency emergency effort taken in
 consultation with the residents of Mossville. The
 additional actions recommended, she stated, are:

 •    Identify and eliminate local sources of dioxin and
    dioxin-like contaminants that are detected in the
    blood and breast milk of residents of Mossville,
    in the soils at their residences, and in their
    common food sources.

 •   As   sources   of   dioxins   and  dioxin-like
    contaminants are  identified and eliminated,
    conduct  all appropriate actions to  reduce
    exposure from any remaining reservoir sources,
    such as soils and sediment. Appropriate actions
    include full remediation of reservoir sources to
    provide protection and preservation of the local
    cultural  and  historical   practices  of  home
    gardening,  animal   husbandry,  hunting, and
    fishing.

•   Relocate all residents who desire to  move  to
    areas that  are  free  of  significant threats  of
    contamination by toxic substances.

•   Issue a moratorium  on new permits for activities
    or enterprises that  release dioxins, dioxin-like
    chemicals, and other toxic chemicals into the
    environment in or near Mossville.
Atlanta, Georgia, May 25,2000
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Joint Session of the Health and Research
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                                      Exhibit 9-2
  RECOMMENDATIONS PRESENTED BY THE
    AGENCY FOR TOXIC SUBSTANCES AND
  DISEASE REGISTRY IN THE 1999 EXPOSURE
   INVESTIGATION: CALCASBEU ESTUARY

  In November 1999, the Agency for Toxic Substances
  and Disease Registry (ATSDR) released a report on
  the investigation of dioxin contamination in
  Mossville, Calcasieu Parish, Louisiana. The purpose
  of the investigation was to determine whether there
  was sufficient evidence of increased exposure to
  dioxins among the residents of Mossville.

  Li the report, ATSDR set forth the following
  recommendations:

  •  Evaluate potential pathways for human exposure
    from environmental and dietary sources.

  •  Reduce human exposures to dioxin from the
    significant exposure pathways identified.

  •  Further characterize the extent of dioxin exposure
    in the community.

  •  Evaluate strategies to assess past exposures to
    dioxin.

  •  Examine indicators of health status for the
    community including statistics on the incidence of
    cancer.

  Source:  U.S. Department of Health and Human
  Services, ATSDR.  1999. Health Consultation
  (Exposure Investigation): Calcasieu Estuary (AKA
  Mossville), Lake Charles, Calcasieu Parish,
  Louisiana. CERCLJS No. LA002368173.
In closing, Dr. Costner stated that the elimination of
dioxins and dioxin-like chemicals, such as PCBs, will
result in both positive and negative economic effects
in Mossville and nearby communities.   She urged
that Federal  and  state  agencies  mitigate the
potentially negative economic effects by including
transition  planning   processes  as  an   integral
component of any dioxin elimination strategy.

Mr. Mouton communicated the frustration felt by the
residents of Mossville that  little action has been
taken  to mitigate the environmental  crisis taking
place in their community.  He requested that the
residents of Mossville receive a relocation package
and asked that a health center be established in the
community  to  provide  health  consultation  and
treatment.  Mr. Mouton stated that the members of
M.E.A.N. believed that existing evidence is sufficient
to justify more aggressive action by the Federal and
state agencies on behalf of his community.

Ms.  Dorothy Felix,  Vice President, M.E.A.N., also
communicated her frustration  with  the  lack of
progress by Federal and state agencies in actively
addressing environmental  health issues affecting
Mossville. She then described for the members of
the  subcommittees a pattern  of stall tactics,
accusations, and insults directed at her organization
by  the Federal  and  state agencies  they  had
approached for assistance.

Referring  to  the  issue raised in the Mossville
exposure investigation  report related to whether the
elevated levels of  dioxins  found in  residents of
Mossville are the result of past or current exposures,
Ms.  Felix stated, "We  all know that it is both.   My
grandparents were  contaminated, and so were my
parents. I am still being contaminated, and so are
my children and my grandchildren."

Ms. Felix urged that Federal and state agencies stop
all insults, insinuations, and stall tactics and take an
active role in the cleanup of Mossville.

Ms.  Felix  identified the  following requests  that
M.E.A.N. wished to make  of  Federal and state
agencies:

•   Request  that  LDEQ  and  EPA assist  the
    residents of Mossville in securing a relocation
    action.

•   Request that ATSDR  continue the Mossville
    Environmental Justice Work Group process.

•   Request that ATSDR and LDHH establish an
    environmental health clinic and provide health
    services in Mossville.

    Request that  LDEQ  and EPA deny all  new
    permits to facilities that have been proven to be
    the worst polluters of the community of Mossville
    until the facilities have installed the appropriate
    equipment to prevent accidental releases.

•   Request  that   LDEQ  and  EPA  require  that
    polluting facilities install real-time air pollution
    monitors.

•   Request that all agencies advise M.E.A.N. as
    soon as  possible of their plans for addressing
    the specific issues outlined by M.E.A.N.  (Ms.
    Felix added that such communications should
    take place in personal meetings, rather than by
    telephone conference calls.)
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National Environmental Justice Advisory Council
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In closing,  Ms. Felix  stated  that M.E.A.N.  will
continue asking for help until the  organization
achieves environmental justice and respect for the
civil rights of the people of Mossville.

3.2 Report  on the  Activities  of the U.S.
    Environmental Protection Agency Region 6
    in the Calcasieu Estuary

Mr. Clifford reviewed the resources and activities of
EPA  Region 6 that are  focused on addressing
various environmental  and health issues  in  the
Calcasieu Estuary,  including activities performed in
conjunction with other agencies. He stated that, as
a  result of  presentations  made by residents of
Calcasieu Parish at the December 1997 meeting of
the NEJAC held in Durham, North Carolina, Mr. Sam
Coleman, Director, Compliance Assurance and
Enforcement Division, EPA Region 6, had increased
EPA's enforcement activities  in  the Calcasieu
Estuary area.   Mr. Clifford stated that EPA had
significantly increased the number  of inspections it
performed at facilities in Calcasieu Parish each year.
He noted that many of the EPA  inspections  are
multimedia inspections  that include air, soil, and
water  sampling.   He  pointed  out  that  several
enforcement  actions   have   resulted from  the
identification   of   violations   during   the  EPA
inspections.  Mr. Clifford stated that LDEQ also had
increased the number of state inspections performed
each year, as well  as the number of enforcement
activities.

Mr. Clifford stated  that  he had attended  the May
1998 meeting of the NEJAC in Oakland, California,
where he listened  to a presentation made to  the
Waste and Facility Siting Subcommittee by residents
of Calcasieu  Parish about flaring  and accidental
releases by industrial facilities in their community.
He stated that the presentation had prompted him to
reevaluate the resources and activities that EPA
Region 6 directed at Calcasieu Parish.  As a result,
EPA Region 6 stepped up its activities considerably,
he  stated.   He then  listed activities EPA had
implemented since the  May 1998  meeting of  the
NEJAC, including:

•   Quarterly meetings are held between EPA and
    residents and community groups in the area to
    discuss issues  brought to the attention of EPA
    by the community.  ATSDR and LDEQ often
    participate in the quarterly meetings  with  the
    community.

•  The quality of the drinking water provided by the
    Mossville Public Water System was evaluated.
    Samples of the drinking water were analyzed for
    dioxin  and VOCs.   No contaminants were
    detected at concentrations above maximum
    contaminant levels (MCL) established under the
    Safe Drinking Water Act (SOWA).

•   EPA and LDHH performed a comprehensive
    performance evaluation (CPE) of the Mossville
    Public  Water System,  the  first  CPE of  a
    groundwater system in  the country. Although
    the water system was found to be in compliance
    with SWDA standards, the CPE identified some
    factors that limit performance. The operator of
    the water system immediately began to correct
    the limiting factors.

•   A  remedial investigation and feasibility study
    (RI/FS) of the Calcasieu Estuary was performed.
    Working  closely with  LDEQ;  the Louisiana
    Department of Natural Resources (LDNR); the
    U.S.  Geological Survey (USGS)  of the U.S.
    Department of  the Interior  (DOI); and the
    National   Oceanic  and   Atmospheric
    Administration (NOAA) of the U.S. Department
    of  Commerce (DOC); EPA is  conducting an
    investigation of contamination of sediments  in
    the estuary and the potential for adverse effects
    on human health and the environment resulting
    from contamination.  Sampling and analysis for
    dioxin  in fish tissue will  be  added  to the
    investigation in the future. The estimated cost of
    the RI/FS of Calcasieu Estuary is $6 million.

•   Air quality  monitoring  has been  increased.
    EPA's Enforcement Division has implemented
    periodic trace atmospheric gas analyzer (TAGA)
    mobile air monitoring to evaluate the presence
    and concentrations of selected hazardous and
    carcinogenic chemicals in Calcasieu  Parish.
    LDEQ has established two additional air toxics
    monitoring sites at locations determined through
    examination of air quality information collected
    during the TAGA monitoring.

In addition, Mr. Clifford stated, EPA submitted to
ATSDR blood dioxin data that had been presented to
EPA at a public  meeting in  1998.  EPA urged
ATSDR to conduct its own evaluation of exposure to
dioxins, resulting  in  the  conduct of the Mossville
exposure investigation by ATSDR in 1999.

3.3 Report  on the  Exposure  Investigation:
    Calcasieu Estuary (Mossville), Louisiana

Dr. Henry Falk, Assistant Administrator, ATSDR,
thanked  the representatives  of  M.E.A.N.  and
GreenPeace for their comments and acknowledged
their requests.   Dr. Falk asked Dr.  Ken Orloff,
Atlanta, Georgia, May 25,2000
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Joint Session of the Health and Research
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ATSDR, to present an overview of the Mossville
exposure investigation and comment on the results
of the investigation. He explained that Dr. Orloff is a
senior toxicologist at ATSDR and was involved in the
Mossville study.

Dr. Orloff stated that EPA Region 6 had presented
blood dioxin data to ATSDR in the fall of 1998.  He
explained that the blood dioxin data, which had been
collected by a law firm located in the Mossville area,
consisted of results of laboratory analyses of blood
samples collected from 11  residents of  Mossville.
He stated that ATSDR evaluated those results and
determined that dioxin levels were elevated in three
of the blood samples.  ATSDR determined  that the
situation warranted further investigation, he said.

Continuing, Dr. Orloff stated that representatives of
ATSDR and LDHH traveled to Mossville to meet with
representatives of M.E.A.N., the Calcasieu  League
for Environmental Action Now (C.L.E.A.N.),  other
residents of Mossville, and other representatives of
community groups in Calcasieu Parish. He said that
the representatives of ATSDR and LDHH met with
the individuals whose blood dioxin results had been
high and with their families.  As a result of those
discussions,  ATSDR  decided that  there   was
sufficient  evidence   to  warrant  an  exposure
investigation, he said.

Dr. Orloff stated that ATSDR focused the exposure
investigation on the community of Mossville because
Mossville is a relatively small, geographically defined
area, attributes helpful in constructing a quantitative
study or investigation.  The person whom the dioxin
tests determined had the highest blood dioxin level
among  the individuals tested was  a resident  of
Mossville, he said.

ATSDR solicited the participation of residents  of
Mossville and asked for their assistance in selecting
appropriate individuals to participate in the study,
continued Dr. Orloff. He said that the criteria applied
in selecting participants were that the participants be
adults and long-term residents of Mossville.  ATSDR
also asked that the community screen out residents
who might have experienced occupational exposure,
he added.  Dr. Orloff stated  that  the  residents of
Mossville submitted a list of 28 individuals,  all of
whom subsequently were included in the study.

Continuing,  Dr.  Orloff explained that the blood
samples were collected and delivered to the National
Center  for Environmental  Health Laboratory, the
Centers for  Disease  Control and  Prevention's
(CDCP) laboratory in Atlanta, Georgia.   When
ATSDR  received   the   laboratory   results,
representatives of ATSDR  returned to Mossville,
where they conducted one-on-one consultations with
all the participants in the exposure investigation, he
said.   He stated that representatives of ATSDR
explained the  results to  the  participants and
answered their questions.  At that time, ATSDR also
extended to each participant an opportunity to meet
with an independent board-certified physician from
the Association of Occupational and Environmental
Health  Clinics to review the participant's medical
records  and  provide  medical  consultation,  he
continued.    The  medical  consultations   were
conducted in the summer of 1999, he said.

Dr. Orloff explained  that,  at the time  ATSDR
released the results to the exposure  investigation
participants, the agency also issued a draft exposure
investigation report for a 60-day public comment
period. All public comments that were received by
ATDSR were addressed individually and appropriate
changes were incorporated into the final report in
response to those comments.  The final report was
released in November 1999, he said.

Dr. Orloff then summarized the salient findings of the
report,  stating that ATSDR agrees with many of the
remarks offered by Ms. Costner in her review of the
results. Specifically, ATSDR considered 17 of the 28
participants in the study to have significantly elevated
blood dioxin levels. The term "significantly elevated"
means that the blood dioxin levels of the individuals
exceeded a  ninety-fifth percentile prediction  level,
compared with ATSDR's comparison population, Dr.
Orloff explained.

Dr. Orloff then stated that ATSDR also agrees that
the profiles of dioxin congeners in  the individuals
tested  were  different than those in the ATSDR's
comparison  population.   Therefore, there are
qualitative, as well as quantitative, differences in the
dioxin levels in certain individuals in the Mossville
community, he noted.

Regarding future activities in  Mossville, Dr. Orloff
commented that the primary issue for ATSDR is to
determine whether exposure to contaminants is
ongoing. Commenting on data from the Mossville
exposure investigation, he stated that one significant
finding of the investigation was that all the individuals
exhibiting the highest  blood dioxin  levels  were 47
years of age or older.  That finding, he said, could
suggest that exposure of those individuals to dioxins
occurred  in  the  past   rather  than   recently.
Continuing, he stated that it is  important to conduct
further testing to determine  whether sources of
dioxin  contamination remain  present.  Dr. Orloff
noted again that LDEQ currently was conducting
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 National Environmental Justice Advisory Council
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 additional testing for dioxin in various environmental
 media  to  determine whether there  are current
 sources of dioxin contamination in Mossville and
 nearby communities.

 In closing, Dr. Orloff commented that ATSDR had
 made recommendations for addressing the health
 concerns  of the  community.  He informed the
 participants that the recommendations were included
 in the Mossville exposure investigation report.

 After thanking Dr. Orloff, Dr. Falk  stressed to the
 participants that the Mossville exposure investigation
 was a concrete step on the path to identifying and
 defining the nature and extent of environmental
 health  issues in  Mossville.   He  acknowledged,
 however, that the exposure investigation was a
 limited study because the investigation was based
 on a small test population (28 persons) and a limited
 number of samples directed at determining pathways
 of  dioxin  exposure,  such  as breast  milk  or
 homegrown food sources like vegetables and eggs.

 Dr. Falk stated  that further  sampling  should  be
 conducted in order to determine (1) whether other
 residents of Calcasieu  Parish have elevated blood
 dioxin levels, (2)  whether ongoing exposures to
 dioxin are occurring, and (3) what are the pathways
 for exposure to dioxin.   He acknowledged that the
 next steps should be designed in consultation with
 the residents of  Mossville.   He also noted that
 ATSDR is  interested in linking its efforts  with the
 efforts of EPA.

 In closing,  Dr. Falk stated that he also looked
 forward to improvements in the communication and
 consultation processes  between ATSDR  and the
 residents of Mossville and other community groups
 in Calcasieu  Parish.    ATSDR   welcomes  the
 suggestions for improving those processes, he said.

 3.4 Report from the Louisiana Department of
    Health and Hospitals

 Dr. Joseph Sejud, Medical Consultant, Office of
 Public Health, LDHH,  explained that the role of
 LDHH in responding to environmental data, such as
the data  presented in  the  Mossviile exposure
 investigation, is (1) to determine what the findings
suggest about public health and (2) to identify the
appropriate public health response.

Dr. Sejud stated that, throughout the progress of the
Mossville case, LDHH had grappled with the problem
of decision making under conditions of uncertainty
and dealing with scientific issues  that are at  the
forefront of environmental science and toxicology.
 When attempting to assess the meaning of the
 findings presented in the exposure investigation, he
 explained, LDHH was responsible for considering,
 with great prudence, the  following questions and
 issues  related  to  the  validity  of  the  exposure
 investigation results:

 •   The sample size considered in the exposure
    investigation was limited; therefore, do the data
    presented in the exposure investigation report
    represent Mossville or Calcasieu Parish at
    large?

 •   Are health benchmarks established in scientific
    literature  comparable to  the  dioxin   data
    presented in the exposure investigation report?
    Dr. Sejud explained that LDHH had attempted to
    compare the  values  in  the  exposure
    investigation with established health benchmark
    values for dioxin.   However, dioxin levels in
    humans  increase with age  because of their
    bioaccumulative nature, he explained, and there
    are age differences between the 28 individuals
    sampled in  Mossville and the comparison
    population. Further, he said, the benchmarks
    were  based  largely  on animal research.   He
    stated that it is not the prerogative of LDHH to
    act solely on the basis of animal research.

 •   Are the exposures to dioxin ongoing or historical,
    or both?

 Dr. Sejud  stated that LDHH had been trying to
 navigate through the uncertainty to plan its response
 to the environmental health issues in Mossville and
 Calcasieu Parish. He added that he also shared the
 frustration voiced by other stakeholders with the
 "glacial  pace" of  process thus far.   He  then
 expressed his hope that the presence of LDHH at
 the joint session would effect some change in that
 regard.

 Dr. Sejud stated that LDHH had planned a public
 health  response to the issues  set  forth  in  the
 Mossville exposure investigation, adding that some
 activities already were underway. He stated  that
 LDHH was responding through the following actions:

 •   Conducting a  review  of health statistics for
    cancer and other health outcomes in Calcasieu
    Parish.

•   Performing   a   community  health   needs
    assessment in the Mossville community.
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    Identifying a process for facilitating access to
    health care in Mossville and the Calcasieu area
    under the Children's Health Insurance Program
    (CHIP) and  the Medicaid  Match Program in
    Louisiana.
Referring to the request of Mr. Mouton, Ms. Felix,
and Ms. Costner for the establishment of a health
clinic in the Mossville community, Dr. Sejud stated
that no state funds were available to support the
establishment of a new health center. He explained
thatthe state of Louisiana was projecting a $3 million
deficit for the next fiscal year. Continuing, Dr. Sejud
stated that LDHH was the largest contributor to the
budget deficit and further that the largest cost to
LDHH  was  that for the provision  of health care
services through the department's Medicaid Match
Program and the CHIP program.

3.5 Communication    from   the   Louisiana
    Department of Environmental Quality

Ms. Miller-Travis read aloud a letter from Mr. J. Dale
Givens, Secretary, LDEQ. The letter was dated May
25, 2000, and read as follows:

"Dear Ms. Miller-Travis:  On behalf of the Louisiana
Department of Environmental Quality I wish to offer
our  regrets  for not  being able  to  attend  this
conference. The Louisiana legislature is currently in
session and there are numerous matters that require
that we be present during this session.

I would like to note .that we have been and are
currently  working  with  our  state and Federal
counterparts, as well as all  of the stakeholders, to
address  the environmental and health  concerns
expressed by the communities in Calcasieu Parish.

We hope that you have a successful conference and
look forward to working with you in the future.
Sincerely,  J.  Dale Givens, Secretary, State of
Louisiana Department of Environmental Quality."

3.6 Report  from  the   Louisiana   Chemical
    Association

Mr.  Edward Flynn,  Director,  Health  and  Safety
Affairs, LCA, thanked the members  of the two
subcommittees  and  the  stakeholders for the
opportunityto represent the chemical manufacturers
of Louisiana at the session. Mr. Flynn explained that
LCA is a nonprofit corporation that represents 70
chemical manufacturers operating at  105 sites
throughout the state of Louisiana. He added that he
was attending the joint session specifically on behalf
of the Lake Charles Area Industry Alliance (LCAIA),
an alliance of 22 LCA companies that operate in
Calcasieu Parish.

Mr. Flynn commented that the LCA, as well as the
Chlorine  Chemistry  Council,  had  submitted  to
ATSDR comments on the findings presented in the
exposure investigation report. Those comments, he
said, included:

•   The Mossville exposure investigation did not
    conclude that blood dioxin levels identified
    through the exposure investigation indeed were
    elevated, relative to the  national reference
    ranges.

•   The Mossville exposure investigation did not
    address possible historical or ongoing sources
    of exposure to dioxin.

•   The blood dioxin levels of residents of Mossville
    did not appear to be unusual, with some dioxin
    results falling above  and some below the
    ATSDR reference values. Further, he said, the
    dioxin  results  set  forth   in the exposure
    investigation report displayed a normal profile of
    dioxin congeners. He noted that the profiles for
    dioxin congeners normally observed in the
    production of vinyl chloride and polyvinyl chloride
    (PVC) and in PVC combustion  are dissimilar
    from the profile exhibited in the blood samples
    tested for the Mossville exposure investigation.

•   Although the findings were based  on a limited
    number of samples, the failure of the egg or the
    soil samples to show significant levels of dioxin
    suggests that current exposures to dioxins are
    not elevated.

•   Extensive environmental  sampling  of  food
    sources and media  in the area and in nearby
    areas should be conducted.

Mr. Flynn stated that additional sampling activities
should be focused first on determining whether blood
dioxin levels in residents of  Mossville actually are
elevated.

Continuing,  Mr. Flynn stated  that representative
reference values for the population of the  United
States, including age-dependent reference values for
dioxin levels, are not available.  Therefore, all
stakeholders should support the efforts of the CDCP
to collect dioxin serum  samples as  part  of the
National Health and Nutrition  Examination Study
(NHANES). He informed the participants that such
data were expected to be available in fall 2000 and
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 National Environmental Justice Advisory Council
             Joint Session of the Health and Research
       and the Waste and Facility Siting Subcommittees
 stated that they should provide baseline reference
 values appropriate for comparison with the Mossville
 data,

 Mr.  Flynn  then suggested  that future sampling
 should include samples of air, soil, and food sources
 to complement the blood dioxin measurements.
 Further,  he  continued,  the  congener  profiles
 displayed in all  samples should be compared with
 those  identified  through  the  EPA   and  U.S.
 Department of Agriculture (USDA) surveys of beef,
 pork, poultry, and fish and with the profiles displayed
 in industrial emissions.

 Mr. Flynn also suggested that additional information
 about the health  and lifestyles of the  individuals
 tested should be  collected and evaluated further.
 Such information should include job and residential
 history so that other potential sources of exposure to
 dioxin can be identified.

 In closing, Mr. Flynn  stated  that the chemical
 industry in Louisiana does hope  to expand  in the
 future, but only  with the support of the public.  He
 noted that the members of LCA are not "foreign,
 faceless entities" but are Louisiana men and women
 who live in Addis, Romeville, Convent, Plaquemine,
 Sulphur, and Westlake, Louisiana. He stressed that
 LCA has a genuine desire to improve  conditions
 throughout the state.

 3.7 Additional Comments of Representatives of
    GreenPeace, Mossville Environmental Action
    Now,  and  the   Calcasieu   League  for
    Environmental Action Now

 Mr. Damu Smith, GreenPeace International, argued
 that Federal and  state  agencies repeatedly have
 undermined and ignored the efforts and requests of
 M.E.A.N. and other community groups in Calcasieu
 Parish.   As an  example,  he  stated, ATSDR
 repeatedly  has  ignored  the  requests  made by
 M.E.A.N. that the process for establishing and
 conducting the work of the Mossville Environmental
 Justice Working Group, a working group established
 by  ATSDR, be developed  in consultation  with
 representatives  of  M.E.A.N.  and  residents of
 Mossville and that members of affected communities
 be included as members of the working group.

 Referring to statements made by Mr. Clifford about
the quality of drinking water in  Mossville, Ms. Pat
 Hartman, M.E.A.N., said that the Mossville Public
Water System, the public water system evaluated by
 EPA, was established only after it was determined
that the well water the residents had been drinking
was contaminated.
 Ms. Monique Harden, Attorney/Community Liaison
 Director, Earthjustice  Legal Defense Fund, stated
 that Dr. Falk had failed to repeat a statement in his
 presentation  that he  had made  previously  in  a
 community meeting in Mossville. She said that Dr.
 Falk had acknowledged at the community meeting
 that the response of the agencies  to the Mossville
 community had been very poor. Ms. Harden also
 said that Dr.  Sejud  had neglected to mention that
 budget  shortfalls  at LDHH did not prevent that
 department from writing letters to the local press in
 which the department criticized the community of
 Mossville and attacked a consultant to ATSDR who
 concluded that local sources likely are responsible
 for the high blood dioxin levels observed in residents
 of Mossville.

 Continuing,  Ms.  Harden  stated   that  the
 representatives of the agencies also had failed to
 mention in their individual presentations a health
 survey performed by Dr. Marvin Legator, Director,
 Toxics Assistance  Project,  University  of Texas
 Medical Branch, Galveston, Texas. She stated that
 the health survey had identified numerous illnesses
 that are consistent with environmental exposure to
 toxic chemicals among members of the  Mossville
 community. She added that the study suggests that
 dioxin blood  levels  in residents of Mossville are
 elevated.

     4.0 QUESTION AND ANSWER PERIOD

 After the presentations by stakeholders, Mr. Hill
 initiated a question-and-answer period to allow the
 members  of the subcommittees to  question the
 stakeholders.  Mr.  Hill suggested that the members
 of the subcommittees begin with questions related to
 the requests made by Dr.  Costner about the future
. investigation of exposure to dioxin.

 Mr. Hill began the question-and-answer period by
 asking Mr. Clifford what  role EPA would play  in
 addressing Dr. Costner's requests.  Addressing the
 first three requests made by Dr. Costner, Mr. Clifford
 stated that next steps to be taken by EPA, ATSDR,
 LDEQ, and LDHH should be to work collaboratively,
 in consultation with  M.E.A.N. and  C.L.E.A.N.  and
 other residents of Mossville and Calcaseiu Parish, to
 establish a comprehensive environmental sampling
 plan to determine whetherthere are ongoing sources
 of exposure to dioxins  and dioxin-like chemicals in
 Mossville and, if so, to expeditiously identify the
 primary sources of the exposures.  Continuing, he
 stated that, if sources of exposure  were  identified,
 the third step would  be  to  develop a  plan for
 eliminating those sources.  Dr. Falk stated that he
 concurred with the general plan recommended by
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Joint Session of the Health and Research
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     National Environmental Justice Advisory Council
Mr. Clifford.  He then expressed willingness  on
behalf of ATSDR to contribute to that process.  He
also stressed that the community of Mossville will be
involved in the development of any plans to address
the issues of concern. Mr. Hill then asked if Mr.
Smith would be able to work with ATSDR and EPA
to develop a strategy to address  Dr. Costner's
requests. Mr. Smith responded that he would work
with the agencies; however,  he requested that
protocols  be  established to  monitor  how  the
agencies would coordinate their responses among
themselves and how the agencies will communicate
with the local  communities.    He  stressed that
protocols  related to  public  participation  will  be
fundamental to proceeding on these issues.  Dr.
Costner also wish to emphasize that it is important to
make the distinction between sources of dioxin and
pathways of exposure. For example, the results of
fish  sampling will suggest  whether  or  not the
ingestion of fish is an exposure pathway, but will not
identify the source of such exposure, she said.

Mr. Melvin "Kip" Holden, Representative, Louisiana
Legislature and member of the Waste and Facility
Siting Subcommittee,  asked why  LDHH does not
accept a correlation between  test results of the
effects of toxics on animals to effects of toxics on
humans.  Dr. Sejud  explained that there is  an
interspecies variability in the toxicity of dioxin.  He
explained that LDHH does find correlations between
the results of animal studies and toxicology in human
species; however, the correlation related to dioxins
is not complete.

Dr. Payton asked  whether there  was a  plan  for
follow-up studies of the 28 persons included in the
initial study. Dr. Falk  responded that ATSDR had
arranged to meet with each of the individuals who
participated in the study to discuss the  results.
ATSDR also had arranged to provide  medical
consultation for each of the individuals, he said.  He
stated that ATSDR had not yet determined whether
further tests would be performed on the same test
individuals.  He stressed that the  issue should be
discussed during the development of a strategy for
furtherinvestigation. Dr. Payton commented that the
questions of validity that affect the results presented
in the initial study could be eliminated by performing
a follow-up study of the same individuals.

Dr. Payton asked whether the ages of the persons
included in the Mossville exposure investigation were
age-adjusted for comparison with the average of the
U.S. population.  She commented  that, if the dioxin
levels presented in the exposure investigation report
were age-adjusted, there should be no question of
whether the higher  dioxin  levels  in older test
individuals were a result of bioaccumulation with
age. Dr. Payton also asked why children were not
included in the initial study, stating that dioxin data
from children could eliminate the question of whether
the results indicated past or current exposures.

Addressing  Dr.  Payton's first question,  Dr.  Falk
responded  that  there is  no established national
average of dioxin blood levels for the United States.
He explained that the comparison values used in the
exposure investigation were derived from a series of
studies  of comparison populations in the  United
States over the past few years and did not represent
a  national average.   He added  that those were
simply the best data available for  comparison.  On
the question of the testing of children to determine
whether there are current sources of exposure to
dioxin, Dr. Falk stated that he was not sure whether
comparison  data for children  are available.  He
stressed that the issue should be discussed as a
possibility during planning for future investigations.

Ms. Jane  Stahl, Deputy Assistant Commissioner,
Connecticut Department of Environmental Protection
and  member  of the   Health   and  Research
Subcommittee   of  the   NEJAC,   asked   the
stakeholders whether there was an expected date
for the establishment of a dioxin standard or action
level. Mr. Clifford referred her question to Dr. Dwain
Winters, EPA Region 6, who responded that EPA
does  not  have  plans to establish  an ambient
standard or action level for dioxin.  He explained that
the principal pathway of exposure is ingestion of food
sources, rather than inhalation of ambient  air or
ingestion of water.  Therefore, he continued, the
establishment of a standard or action level is not the
mechanism  by which EPA usually would begin to
address that type of pollutant.

Ms. Denise Feiber,  Environmental  Science and
Engineering, Incorporated and member of the Waste
and Facility Siting Subcommittee of  the NEJAC,
asked  whether  the communities involved  could
participate in the development of a sampling strategy
and, if so, how such consultation could be managed
efficiently. Dr. Falk responded that ATSDR would
consult with the community in developing a sampling
plan. Mr. Clifford referred the question to Ms. Pam
Phillips, Deputy Director, Super-fund Division, EPA
Region  6, who stated  that EPA had been actively
involving the various communities  in Calcasieu
Parish in the development of the Agency's sampling
plans.  She explained that, before EPA conducted
sediment sampling in the  Calcasieu  Estuary, the
Agency held several community meetings and open
houses.   During  those  events,  she continued,
representatives of EPA discussed the draft approach
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 National Environmental Justice Advisory Council
            Joint Session of the Health and Research
      and the Waste and Facility Siting Subcommittees
 and considered  comments from  residents  and
 community groups.  Ms. Phillips stated that EPA
 pilot-tested the posting of the draft scope of work on
 EPA's Web site  so that interested parties could
 download the document and provide EPA with
 comments. She stated that EPA plans to conduct a
 similar review process for the draft scope of work for
 ecological sampling that will begin in summer 2000.
 Ms. Phillips also stated that EPA plans to post the
 raw data from sampling on the EPA web site and to
 provide the data in electronic format on GD-ROM,
 upon request.

 Ms. Miller-Travis stated that participants in the joint
 session had made many suggestions about actions
 that must be taken to address the environmental
 health issues in the  Mossville area,  but, she
 observed, the stakeholders still lacked a concise
 plan. She suggested that the stakeholders use the
 remaining time to formulate, at the least, a "skeleton"
 of a course of action to be taken after the meeting.
 Concurring, Mr. Hill asked Mr. Smith whether he and
 the representatives of  M.E.A.N. and C.L.E.A.N.
 would be willing to remain after joint session to
 discuss the next steps directly with the Federal
 stakeholders.  Mr.  Smith,  Dr.  Costner, and  the
 representatives of M.E.A.N. and C.L.E.A.N. also
 agreed to remain after the joint session.

 Mr. Neftali Garcia Martinez, Environmental Scientist,
 Scientific and Technical Services and member of the
 Waste and  Facility Siting  Subcommittee  of  the
 NEJAC,   asked   whether  any  sampling   of
 environmental media (air, water, and  soil) in  the
 Calcasieu Estuary had been completed. Mr. Clifford
 responded that sampling to evaluate sediments in
 Calcasieu Estuary began in December 1999.  He
 explained that EPA expected the results to be
 available in mid-summer 2000. In addition, results of
 the first analyses of fish tissue should be available in
 July 2000, he said.

 Mr. Martinez asked Mr. Clifford whether air sampling
 for dioxin had been performed.  He  also asked
 whether a study of the types of industries in the area
 and the types of raw materials used in their chemical
 processes, including  combustion  of  hazardous
 wastes, was being performed.  He suggested that
 such an inventory could identify possible sources of
 exposure to dioxin. Mr. Clifford responded that EPA
 currently was working with the state of Louisiana to
 install new toxic air monitors specifically to monitor
 dioxin in the Calcasieu Estuary.  He noted that he.
 expected the new monitors to be in place by the end
 of summer2000. To the question about an inventory
 of types  of facilities and raw materials used by
facilities in the area, he responded that EPA collects
 and maintains data on  the types of chemicals
 emitted from permitted facilities in Calcasieu Parish.

 Ms. Stahl asked Mr. Clifford whether EPA or LDEQ
 had assessed penalties  for exceedances of the
 ambient air quality standards (AAQS) and, if so,
 whether the sums collected under those penalties
 had been directed back  to  the community.   Mr.
 Clifford  answered  that  the  AAQS  are state
 standards. Therefore, he said, EPA has no authority
 to assess penalties for violations of those standards,
 he said. He added that he was unaware whether
 LDEQ had  assessed penalties for violations of
 AAQS by facilities in  Calcasieu Parish, or whether
 LDEQ had  directed  sums  collected under such
 penalties back to the communities. Continuing, Mr.
 Clifford stated that penalties had been assessed as
 part of enforcement actions taken by EPA and
 LDEQ.  He commented that he expected that EPA
 and LDEQ  would assess more penalties in the
 future, in light of the increased enforcement activity
 in the Calcasieu Estuary.

 Mr. Clifford also stated that EPA has a supplemental
 environmental  project (SEP) policy that allows EPA
 the flexibility to offset a portion of a penalty assessed
 against a facility if the facility chooses to contribute
 that portion at the local level, whether at the facility or
 in the community, to address a particular issue that
 has a nexus to the particular violation.  Mr. Clifford
 noted that EPA had received some SEP proposals
 related to the penalties assessed in Louisiana. He
 added that EPA Region 6 had established an internal
 work group on SEPs to work with communities to
 identify a number of potential SEPs that could be
 presented to companies during such enforcement
 and settlement discussions.

 Continuing, Mr. Clifford commented that the SEP
 policy was not as broad as he would like it to be, so
that it would be helpful in addressing the situation in
 Mossville.  For example,  he said, to use penalty
 money to establish a health clinic would probably be
"a larger stretch" under EPA's SEP policy.   Mr.
 Clifford then asked Mr. Coleman whether, to  Mr.
 Coleman's knowledge,  LDEQ had a similar SEP
 policy. Mr. Coleman responded that LDEQ did have
a SEP policy and  stated that the policy essentially
provided the same flexibility as EPA's SEP policy.
 Mr. Coleman explained that LDEQ  also had  the
authority to  establish environmental trust funds
through which funds provided by penalized facilities
could  be drawn out by nonprofit organizations or
other  organizations  to  support  projects.    Mr.
Coleman stated that LDEQ  was pursuing SEP
projects in the Lake Charles area. Referring to the
use of LDEQ's SEP funds to fund a health clinic in
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                                          9-11

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Joint Session of the Health and Research
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     National Environmental Justice Advisory Council
Mossville, Mr. Coleman stated that he thought such
use was possible and suggested that the matter
should be discussed with LDEQ, LDHH, ATSDR,
and  the  residents  of  Mossville  and  nearby
communities.

Referring to Mr. Flynn's recommendation that future
sampling should include extensive sampling of air,
soil,  and food sources to complement the blood
dioxin measurements, Ms. Miller-Travis stated that
she was troubled by the suggestion that such an
extensive and costly assessment must be performed
to accurately  assess whether the residents  in
Mossville are affected adversely.  She asked Mr.
Flynn whether the LCA would be willing to provide
some of the funds necessary to complete such an
assessment.  Mr.  Flynn  pledged to present her
suggestion  to the  management and  board  of
directors of LCA.

Ms.  Peggy Shepard,  Executive  Director, West
Harlem Environmental Action,  Incorporated  and
member of the Health and Research Subcommittee
of  the  NEJAC,  commented  on  the   ethical
considerations raised when a health agency such as
LDHH  is presented  with data that indicate  that
specific individuals have been  exposed to a toxic
chemical, yet that agency takes no action.  Ms.
Dianne  Dugas, • Chief  Epidemologist,  LDHH,
responded that the state health officer in Louisiana
had  directed LDHH to provide an inventory  of
medical  resources  available in the area  of the
Calcasieu  Estuary.   She  said  that LDHH  had
estimated that there are some 300 physicians
located in that area.  Continuing, she stated that
LDHH  hoped to perform a community health needs
assessment, so that accessibility of health care to
residents can be  established.   However,  she
continued,  the state health officer had informed
LDHH  that no funds are available to support the
establishment of a clinic for the specific treatment of
exposure to dioxin.

Dr. Sejud added that there is no particular treatment
for exposure to dioxin. Once dioxin is in the human
body, he said, it cannot be removed.  Therefore, on
a public health level, treatment is prevention of future
exposures, he said. Dr. Sejud stated that it is simply
not known whether exposure to dioxin in Mossville is
linked  to other health outcomes. On the issue of
access to health care, he said,  LDHH is committed
to maximizing access to health care for all residents
of  Louisiana.   The  community  health  needs
assessment that Ms. Dugas had mentioned is part of
that process, he said.
Referring to Ms. Shepard's comments about the
ethical obligations of LDHH, Ms. Veronica Eady,
Executive  Office   of  Environmental  Affairs,
Massachusetts Office of the Governor and member
of the Waste and Facility Siting Subcommittee of the
NEJAC, asked the representatives of LDHH to
discuss their ethical obligation to follow-up and act
when they  are  presented  with data such as the
exposure to dioxin.   Ms. Eady also asked the
representatives of LDHH what steps they had taken
since learning of the findings  presented  in the
Mossville exposure investigation.

Dr. Sejud acknowleged that the data presented in
the Mossville exposure investigation suggestthatthe
people in Mossville apparently have been exposed to
higher than average levels of dioxin.  However, the
health implications of that finding are unknown, he
stated again.  Therefore, he explained, the ethical
obligation of LDHH is to consider what the health
implications might be and to act accordingly.

Commenting on Dr. Sejud's response that the health
implications of the findings of the Mossville exposure
investigation are unknown, Dr. Payton stated that
many health outcomes have been linked to exposure
to dioxin, from neurological, dermatological, and
respiratory effects to all types of cancer.  Continuing,
she stated that, in populations for which data indicate
that persons have been exposed to some level of
dioxin, it can be expected that there is great potential
for such health outcomes.  Therefore, she declared,
there is an ethical consideration in that regard. Dr.
Sejud  responded that current scientific literature
does not provide sufficient proof of the health effects
of exposure to dioxin at levels lower than 300 to 400
parts per trillion. Ms. Miller-Travis responded to Dr.
Sejud's statement by observing that, regardless of
whether conclusive scientific evidence exists, LDHH
cannot wait until hundreds of  people  are sick  or
dying before the agency takes action. She reiterated
that the issue is an ethical one.

In closing remarks, Ms. Miller-Travis suggested, on
behalf of the NEJAC, that a working group of the
NEJAC, made up of members of the Health and
Research Subcommittee, the Waste and Facility
Siting  Subcommittee,  and  the Air  and  Water
Subcommittee,  be   formed   to   discuss  the
environmental justice and health issues affecting the
community of  Mossville and to provide technical
assistance and expertise.  She expressed her hope
that the community had felt "somewhat affirmed" in
the day's session.  She added that there is much
work to be done and that the NEJAC must make a
commitment to working with the stakeholders  to
resolve the issues before it.
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APPENDICES

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     APPENDIX A
FULL TEXT OF APPROVED
    RESOLUTIONS

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 RESOLUTION ON MERCURY EMISSIONS
 WHEREAS, mercury is a known neurotoxin that cause serious neurological and developmental effects in
 humans that include loss of sensory or cognitive ability, tremors, convulsions, and death; and

 WHEREAS, mercury adversely impacts human health, the nation's air and water quality and the health
 of the global environment; and

 WHEREAS, coal-fired electric generating plants are the largest source of mercury emissions in the
 United States; and

 WHEREAS, human exposure to mercury most often occurs when people eat contaminated fish and
 subsequently has a disproportionate impact on indigenous and people of color populations; and

 WHEREAS, the National Academy of Sciences is preparing a health effects study of mercury; and

 WHEREAS, the amendments to the 1990 Clean Air Act require that the U.S. Environmental Protection
 Agency (EPA) make a finding that regulating mercury emissions from electric generating plants is
 necessary and appropriate before EPA regulates mercury from coal-fired electric generating plants.

 NOW, THEREFORE, BE IT RESOLVED that the NEJAC URGES:

       the Administrator of the EPA to make a positive determination to regulate mercury emissions
       from coal-fired electric power plants.

       that the EPA request that the National Academy of Sciences incorporate an analysis of mercury
       impact on indigenous and people of color populations.

       that the EPA actively involve the NEJAC in subsequent steps following the Administrator's final
       determination.
RESOLUTION ON CONFINED ANIMAL FEEDING OPERATIONS
WHEREAS large-scaled confined animal feeding operations (AFOs and CAFOs), including industrial-
sized hog operations, poultry, dairies and cattle finish lots pose a danger to the environment and public
health, threatening air quality, drinking water safety and fish stocks caught in rivers, while increasing pest
infestation and creating noxious odor and solid waste problems; and

WHEREAS rural, people of color, low-income communities as well as Indian country suffer a
disproportionate burden of the siting and expansion of AFOs and CAFOs; and

WHEREAS the EPA regulations governing AFOs and CAFOs need to be updated and strengthened; and

WHEREAS the EPA response to this environmental justice crisis has been erratic and sometime
unresponsive, with few long-term solutions offered; and

WHEREAS agribusinesses that build and operate AFOs and CAFOs can avoid stringent regulation by
constructing and expanding their facilities in locations where regulations may be weak; and

WHEREAS many agribusinesses that build and operate AFOs and CAFOs have refused to use the best
available technology and management practices to minimize pollution problems; and

WHEREAS CAFOs that regularly discharge to waters are presently required to have NPDES permits;
and

WHEREAS EPA's schedule will allow CAFOs to operate without adequate regulations until 2007 or
longer; and
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WHEREAS confinement houses normally emit large quantities of hydrogen sulfide, ammonia, VOCs,
dust and endotoxins to the air.

NOW, THEREFORE, BE IT HEREBY RESOLVED, that the National Environmental Justice Advisory
Council (NEJAC) urges the EPA to commit more resources to remedy pollution and environmental
justice problems associated with the siting and expansion of AFOs and CAFOs in low income
communities and in Indian country - problems that have impacted the health and quality of life of
persons living within the proximity of CAFOs.

BE IT FURTHER RESOLVED, that NEJAC urges EPA to take the following actions:

       Issue a national moratorium on the construction and expansion of CAFOs that rely on lagoons
       and land application fields as their primary waste disposal systems until the EPA can promulgate
       and implement new, effective regulations and complete the permitting of unpermitted operations.

•      Require the Offices of Air, Water and Enforcement to collaborate in regulation and enforcement
       efforts and to provide a mechanism for public input  in their regulation and enforcement efforts on
       an ongoing basis, before issuance of notices in the  Federal Register.

       Require the EPA to provide equitable technical and financial support for tribal environmental
       programs on parity with similar state-run program and, where tribes have not yet assumed such
       responsibility, to protect tribal communities through  direct implementation and enforcement of
       the federal environmental laws within Indian  country.

       Require all NPDES permitting authorities - whether states, approved tribes, or EPA - to apply
       properly the NPDES rules.

       Have the Air Office conduct an analyses of its authority to protect communities from odor and
       toxic emissions.

•      Mandate groundwater monitoring of CAFOs.

•      Incorporate community concerns in CAFO siting guidelines.

•      Establish a CAFO hotline for reporting of violations  of environmental laws to EPA.

•      Aggressively audit facilities of CAFO owners with poor compliance records, particularly those in
       environmental justice communities, to target them for shut down.

       Protect the integrity of federal delegated authority by removing permitting authority from states
       that flaunt the NPDES process on CAFOs.
RESOLUTION ON MULTIPLE CHEMICAL SENSITIVITY
WHEREAS, people throughout the world have developed a chronic condition, Multiple Chemical
Sensitivity (MCS), in response to a single massive exposure or repeated low level exposures to one or
more toxic chemicals and other pollutants in the environment; and

WHEREAS, there is no known cure for MCS and symptoms recur reproducibly with exposure to
offending chemical(s). The symptoms of MCS involve multiple organ systems and include asthma and
allergies, chronic fatigue, muscle and joint pains, memory loss and inability to concentrate,
gastrointestinal disturbances, respiratory and neurological problems; and

WHEREAS, MCS can cause major health, financial, employment, housing, and social consequences for
people who have this disability; and

WHEREAS, in 1994, the U.S. Environmental Protection Agency, American Medical Association,
American Lung Association, and the U.S. Consumer Product Safety Commission stated a consensus
opinion on MCS and, in 1999, researchers and clinicians reached a consensus definition of MCS; and
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WHEREAS, MCS is recognized by the Americans with Disabilities Act, Social Security Administration,
U.S. Department of Housing and Urban Development as well as other state and national government
agencies and commissions that support the health and welfare of the chemically injured; and

WHEREAS, reasonable accommodations, information about and recognition of MCS can provide
opportunities for people with this disability to enjoy access to work, schooling, public facilities and other
settings where they can continue to contribute their skills, ideas, creativity, abilities and knowledge; and

WHEREAS, people with MCS need the support and understanding of family, friends, co-workers and
society as they struggle with their illness and adapt to new life styles; and

WHEREAS, the health of the general population is at risk from chemical exposures that can lead to
illnesses and conditions that may be preventable through reduction or avoidance of chemicals in the air,
water, and food in both the indoor and outdoor environments;

NOW THEREFORE, BE IT RESOLVED THAT:

NEJAC urges EPA to work with other agencies to:

       Establish disease registries and make MCS a "reportable condition".  Investigate and report the
       prevalence and incidence of MCS in minority communities and low income communities and
       tribes, especially those heavily impacted by environmental pollutants;

       Provide funding and programs to support increased understanding, education and research that
       will aid in identifying causes, diagnosis, treatment, accommodation and the prevention of MCS;

       Include MCS as a factor when setting standards and establishing regulations, especially with
       regard to multiple exposures and cumulative effects from environmental chemicals;

       Examine existing environmental laws and revise or add standards as appropriate to assure
       protection from chemicals that cause initial sensitization and those that trigger existing
       sensitivities;

       Encourage states and other government and  non-government entities to take regulatory and
       voluntary actions, including notices and restrictions as necessary, to protect individuals with MCS
       in the workplace, office, home and in public places;

        Assure that accurate information on minority and  low income populations is included in the final
       version of the Interagency Workgroup  report on MCS and other policy documents issued on the
       matter of MCS;

       Establish a fragrance-free policy for meetings and identify and utilize facilities that actively
       attempt to reduce and minimize use of toxic chemicals, for example, that use non-toxic building
       materials, cleaning agents and pest control measures.

RESOLUTION ON THE FEDERAL FACILITIES WORK GROUP OF THE EXECUTIVE COUNCIL
OF THE NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL                       	
WHEREAS the National Environmental Justice Advisory Council (NEJAC) has repeatedly heard public
testimony over the past seven years about environmental justice issues associated with federal facilities,

BE IT THEREFORE RESOLVED that the NEJAC establishes a Federal Facilities Working Group to
research, investigate and provide recommendations to the NEJAC on environmental justice issues
related to federal facilities.
                                            A-3

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 RESOLUTION ON THE DECISION TREE FRAMEWORK FOR COMMUNITY-DIRECTED
 ENVIRONMENTAL HEALTH ASSESSMENT ================_=_=
Whereas, the U.S. Environmental Protection Agency is presently reviewing, designing, and evaluating
methods that will be used in the measurement of disproportionate impact, or disparate risk, used for the
determination of the Title VI claims;

Whereas, the National Environmental Justice Advisory Council Health and Research Subcommittee
identified as one of its initiatives, a community-based research tool in the form of a Decision Tree
Framework, as a'method for conducting community-based intervention and prevention health
assessments;

Whereas, the NEJAC Health and Research Subcommittee is developing the Decision Tree in partnership
with program offices, Office of Pollution Prevention and Toxics and the Office of Research and
Development;

Whereas, the NEJAC Health and Research Subcommittee formulated a Workgroup on Community
Environmental Health Assessment, composed of diverse individuals from various health professions and
community representatives, to strengthen linkages and take concrete steps towards the development and
dissemination of the Decision Tree;

Whereas, the Health and Research Subcommittee determined by consensus at the NEJAC meeting on
May 25,2000 that the level of funding resources for the design and the development of the Decision
Tree need to be identified;

Therefore, be it resolved that the NEJAC recommends and advises EPA to:

•      Support the Decision Tree as a priority issue;

•      Provide funding and appropriate resources for the design and development of the Decision Tree;

•      Extend the term of the Work Group in order to maintain the continuity of, and ensure the
       completion of the Decision Tree and any training materials to accompany the tool, and
       dissemination of the tool to environmental justice communities.
RESOLUTION ON PERSISTENT ORGANIC POLLUTANTS
WHEREAS: The National Environmental Justice Advisory Council (NEJAC) recognizes that it is a policy
of the United States Government in keeping with its trust responsibility to provide certain services and
fulfill obligations of maintaining a policy of government-to-government relationship with federally
recognized tribes;

WHEREAS: The NEJAC recognizes that Tribal Councils preserve for themselves and their descendants
the inherent sovereign rights of their Tribal Nations, rights secured under Indian treaties and agreements
with the United States, and all other rights and benefits to which they are entitled under the laws and
Constitution of the United States to promote the welfare of their Tribal nation and preserve a safe and
healthy environment;

WHEREAS: Research has demonstrated that due to subsistence activities, and in many cases
geographical location, American Indian and Alaska Native populations are at higher risk of exposure to,
and are disproportionately impacted by, certain substances that are toxic, persistent and bioaccumulate
in the environment, the food web and in the human body;

WHEREAS: The United States Environmental Protection Agency has recognized health and
environmental effects of certain substances that are toxic, persistent and bioaccumulate, including
intentionally produced industrial chemicals such as PCBs and unintentional by-products, such as dioxins;

WHEREAS: Under the auspices of the United Nations, intergovernmental negotiations are taking place
for a global treaty to implement international action to eliminate and or reduce certain persistent organic
pollutants, (POPs). These include pesticides: aldrin, chlordane, DDT, dieldrin, endrin, heptachlor, mirex,

                                            A-4

-------
 toxaphene; industrial chemicals: hexachlorobenzene and polychlorinated biphenyls (RGBs); and
 unintended byproducts: dioxins and furans. There is no longer any production or use in the United States
 of any of the above pesticides. The first POPs selected as the initial targets for global action include
 pesticides (aldrin, chlordane, DDT, dieldrin, endrin, heptachlor, mirex, toxaphene); industrial chemicals
 (PCBs and hexachlorobenzene); and,

 WHEREAS:  Dioxins and furans, as well as PCBs and hexachlorobenzene, continue to be generated in
 the United States as unintentional byproducts, and continue to be released to the environment in
 quantities that can contribute to harmful health and environmental impacts.

 WHEREAS:  Large quantities of PCBs continue to be used in the United States in older electrical
 transformers and other equipment. These sometimes break open and/or leak to the environment in
 quantities that can contribute to harmful health and environmental impacts.

 WHEREAS: Dioxin, PCBs and other POPs are present in contaminated soils and sediments at many
 locations inside the United States.  This poses special problems for nearby tribes such as the St. Regis
 Mohawk (PCB contaminated St. Lawrence River sediments); the Oneida and Menominee Tribes (PCB
 contaminated Green Bay and Fox River sediment); and various Alaska tribes who live near PCB
 contaminated former US military sites.  POPs escape into the air from contaminated soils and
 sediments, and then return to earth and water at distant locations where they can then contribute to
 harmful health and environmental impacts;

 WHEREAS: The United States government through its Department of State and EPA have participated
 in four of five Intergovernmental Negotiating Committee sessions with no consultation with American
 Indian and Alaska Native tribes or villages on these health and environmental impacts that
 disproportionately affect Indian peoples;

 WHEREAS: On July 14,1999, Madeline K. Albright, Secretary of State, United States Department of
 State, had a meeting with American Indian and Alaska native leaders and made a commitment to ensure
 the Department of State consults and works in good faith with Tribes in matters of foreign policy that
 impact Indians;

 WHEREAS: Dioxins and PCBs are of particular concern to tribes in the United States and both are
 widely present as contaminants at dangerous levels in the fish and the other wildlife that American
 Indians and Alaska Natives eat. For example, 46 states have issued advisories against eating  local fish
 because of dioxin contamination. The average American adult receives as  much as 300 to 500 times
 the daily "safe" dose of dioxin through diet, and breast-feeding infants receive 50 times that amount.
 Both dioxin and PCBs have been linked to serious health problems, including cancer, immune system
 disruption, and reproductive and development problems, and

 WHEREAS: The NEJAC is concerned about the elevated impact and greater health-risk  that dioxin and
 PCB contamination and other POPs contamination may have upon Tribal nations. We are concerned
 that due to land-based and subsistence culture, Indian peoples have higher exposure rates and are at
 higher health risk as compared to other non-Native populations.

 NOW THEREFORE BE IT RESOLVED:

 That the NEJAC is advising the United States, in the negotiation of the Global POPs Treaty, to support
 treaty language that emphasizes reduction, pollution prevention and a gradual phase-out of dioxin-
 producing materials and technologies, with an ultimate aim of the elimination of dioxin;

 The NEJAC also requests that the US support treaty language to  rapidly phase out all remaining uses of
 PCBs; to destroy PCBs stocks; to cleanup soils and sediments contaminated by PCBs and other POPs
 by means that do not, by themselves, generate and/or release POPs to the environment or create other
 health or safety hazards;

The NEJAC further requests that the United States POPs treaty negotiating team consult with all
American Indian and Alaska Native tribes, before and throughout  the entire international negotiations
process, on this important issue that affects the health, welfare, environment and overall survival of
Tribal nations in the US and indigenous peoples throughout the world.

                                            A-5

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       APPENDIX B
 LIST OF MEMBERS OF THE
NATIONAL ENVIRONMENTAL
JUSTICE ADVISORY COUNCIL

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                          NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                                        Alphabetical List of Members
                                                    2000
 DESIGNATED FEDERAL OFFICIAL
 Charles Lee
 Associate Director for Policy and
 Interagency Liaison
 Office of Environmental Justice
 U.S. Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC
 2201 A)
 Washington, DC 20460
 Phone:  (202)564-2597
 Fax:    (202)501-1163
 E-mail:  king.marva@epamail.epa.gov
Don J. Aragon -1 year
Wind River Environ. Quality Com.
Shoshone and Northern Arapaho Tribes
P.O. Box 217
Fort Washakie, WY 82514
Phone:  (307)332-3164
Fax:    (307) 332-7579
E-mail:  wreqc-twe@wyoming.com

Rose Marie Augustine - 2 years
Tucsonans for a Clean Environment
7051 West Bopp Road  •
Tucson, AZ 85735-8621
Ph: (520)883-8424
Fax: (520) 883-8424
E-mail:

Luke W. Cole -1 year
Center on Race, Poverty & the Environ.
California Rural Legal Assistance
Foundation
200 McAllister, Room 315
San Francisco, CA 94102
Phone: 415/565-4637
Fax: 415/565-4865
E-mail: luke@crpesf.org

Fernando Cuevas, Sr. - 2 years
Farm Labor Organizing Committee
326 East Maple Street
Winter Garden, FL 34787
Ph: (407) 877-2949
Fax: (407) 877-0031
E-mail: flocflorida@aol.com
 CHAIR
 Haywood Turrentine -1 year
 Executive Director
 Laborers' District Council of Education
 & Training
 Trust Fund of Philadelphia & Vicinity
 500 Lancaster Pike
 Exton, PA 19341
 Phone: (610)524-0404
 Fax:    (610)524-6411
 E-mail: woodtur@aol.com
           Other Members

Arnoldo Garcfa -1  year
Regional Community Organizer
Urban Habitat Program
5850 Picardy St.
Oakland, CA 94605
Phone: 415/561-3332
Fax: 415/561-3334
E-mail: agarcia@igc.apc.org

Michel Gelobter - 2 years
Rutgers University
Department of Public Administration
360 Martin Luther King Blvd., 7th Floor
Newark, NJ 07102
Phone: (973) 353-5093, ext. 18
Fax: (781) 394-4774 or (209) 927-4574
E-mail: gelobter@newark.rutgers.edu

Tom Goldfooth -1 year
Indigenous Environmental Network
P. O. Box 485
Bemidji, MN 56619-0485
Ph: (218)751-4967
Fax:(218)751-0561
E-mail: ien@igc.org

Pat Hill Wood - 3 years
Senior Manager
Federal Regulatory Affairs
Georgia Pacific Corporation
1875 Eye Street, N.W., Suite 775
Washington, DC 20006
Phone: (202)659-3600
Fax:   (202)223-1398
E-mail: pkwood@gapac.com
 VICE-CHAIR
 Peggy M. Shepard
 Executive Director
 West Harlem Environmental Action Inc.
 271 West 125th Street, Suite 211
 New York, NY 10027
 Phone: (212) 961-1000, ext. 303
 Fax:    (212)961-1015
 E-mail: wheact@igc.org
Jennifer Hill-Kelly - 2 years
Oneida Environmental Health & Safety
Department
P. O. Box 365, 3759 W. Mason St.
Oneida, Wl 54155
Ph: (920) 497-5812
Fax: (920) 496-7883
E-mail: jhillkel@oneidanation.org

Annabelle Jaramillo -1 year
Office of the Governor
Room 160, State Capitol
Salem, OR 97310
Phone:  (503)378-5116
FAX: (503) 378-6827
E-mail:
annabelle.e.jaramillo@state.or.us

Meghan Magruder, - 3 years
Hale and Dorr LLP
1455 Pennsylvania Ave., NW
Washington, DC 20004
Phone: Pending
Fax: Pending
E-mail:
meghan.magruder@ haledorr.com

Vernice Miller-Travis - 1 year
Director
Partnership for Sus. Brownfields Dev.
104 Jewett Place
Bowie, MD 20721
Phone: 301/218-3528
Fax:  410/338-2751
E-maiI:vdmt@ bellatlantic.net
   * Denotes NEJAC Executive Council Member      AC=Academia
          IN=lndustry      NG=Non-governmental Organization
   TI=Tribal/lndigenous
                         CG=Community Group EV=Environmental Group
                         SL=State/Local Government

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Harold Mitchell - 3 years
Director
Regenesis, Inc.
101 Anita Drive
Spartanburg, SC 29302
Phone: (864) 542-8420
Fax: (864) 542-4062
E-mail:

David Moore - 2 years
Mayor, City of Beaumont
Office of City Manager
P. O. Box 3827
Beaumont, TX 77704
Ph: (409)880-3716
Fax: (409)880-3112
E-mail:

Carlos M. Padfn - 3 years
Dean, School of Environmental Affairs
The Metropolitan University (UMET)
P.O. Box 21150
San Juan, Puerto Rico 00928-1150
Phone: 787/766-1717
Fax: 787/751-5540
E-mail:

Marinelle Payton -1 year
Harvard School of Public Health
134 Marlborough
Boston, MA 02116
Phone: (617)375-5793
Fax: (617)731-1541 or (617) 247-2147
E-mail:
payton_m @ Hub.TCH.Harvard.edu

Rosa Hilda Ramos -1 year .
Community of Catano Against Pollution
La Marina Avenue
Mf 6, Marina Bahia
Catafio, Puerto Rico 00962
Phone: 787/788-0837
Fax: 787/788-0837
E-mail: rosah@coqui.net
Peggy Shepard -3 years
West Harlem Environmental Action
271 West 125th Street, Suite 211
New York, NY 10027
Ph: (212) 961-1000
Fax:(212)961-1015
E-mail: wheact@igc.apc.org

Jane Stahl - 2 years
Assistant Commissioner
State of Connecticut
Department of Environmental  Protection
79 Elm Street
Hartford, CT 06106-5127
Phone: 860/424-3009
Fax: 860/424-4054
E-mail: jane.stahl@po.state.ctus

Gerald Torres -1 year
University of Texas Law School
727 East Dean Keeton, Room 3.266
Austin, TX 78705
Ph: 512X471-2680
FAX: 512X471-0577
E-mail: gtorres @ mail.Iaw.utexas.edu

BobVarney -3 years
Commissioner
New Hampshire Department of
Environmental Services
6 Hazen Drive
Concord, NH 03302-0095
Phone: (603) 271-3503 or 271-8806
Fax:(603)271-2867
E-mail: rvarney@des.state.nh.us

Jana L. Walker - 3 years
Law Office of Jana L. Walker
141 Placitas Trails Road
Placitas, NM 87043
Phone: (505) 867-0579
Fax:  (505) 867-0579
E-mail: ndnlaw@sprintmail.com
Jess Womack - 3 years
Senior Corporate Counsel
ARCOLaw
444 South Flower Street
Los Angeles, California 90071
Phone:(213)486-8780
Fax:  (213)486-3969
E-mail:

Damon P. Whitehead -1 year
Earth Conservation Corps
P.O. Box 77263
Washington, D.C. 20013-7263
Phone :(202) 607-0864
Fax:(301)483-9779
E-mail: wpd7@yahoo.com

Tseming Yang - 3 years
Vermont Law School
Chelsea Street, Whitcomb House
South Royalton, VT 05068
Phone: 802/763-8303 ext 2344
Fax:  802/763-2663
E-mail: tyang@vermontlaw.edu
Expiration Dates:
1 year =12/31/2000
2 year =12/31/2001
3 years= 12/31/2002
   * Denotes NEJAC Executive Council Member      AC=Academia
          IN=lndustry     NG=Non-governmental Organization
   TI=Tribal/lndigenous
                         CG=Community Group EV=Environmental Group
                         SL=State/Local Government

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                          NEJAC AIR AND WATER SUBCOMMITTEE
                                      List of Members
                                           2000
DESIGNATED FEDERAL OFFICIALS
Alice Walker (co-DFO)
Office of Water
U.S. Environmental Protection Agency
401 M Street, SW (MC 4102)
Washington, DC 20460
Phone:(202)260-1919
Fax  : (202) 269-3597
E-mail: walker.alice@epa.gov

Wii Wilson (co-DFO)
Office of Air and Radiation
U.S. Environmental Protection Agency
1200 Pennsylvania Avenue, NW (MC 6103)
Phone:(202)564-1954
Fax  : (202) 564-1549
E-mail: wilson.wil@epa.gov
  CHAIR
  Michel Gelobter - 2 years *
  RutgersUniversity
  Department of Public Administration
  360 Martin Luther King Blvd., 7th Floor
  Newark, NJ 07102
  Phone: (973) 353-5093, ext. 18
  Fax: (781) 394-4774 or (209) 927-4574
  E-mail: gelobter@newark.rutgers.edu

  VICE-CHAIR
  Pending Subcommittee Vote
                                      Other Members
Elaine Barron - 2 years (CG)
Paso del Norte Air Quality Task Force
1717BrownBldg. IA
El Paso, TX 79936
Phone: (915) 533.-3S66
Fax   : (915) 533-6102
E-mail:embarronmd @ usa.net

Clydia Cuykendall -1 year (IN)
J.C. Penney Co., Inc.
MS1104LegalDept.
6501 legacy Drive
Piano, Texas 75024-3698
Phone: (972)431-1290
Fax:    (972) 431-1133 or 1134
E-mail: cjcuyken@jcpenney.com

Bunyan Bryant -1 years (AC)
University of Michigan, Dana Building
430 E. University
Ann Arbor, Ml 48109-1115
Phone: (734)769-4493
Fax:    (734)936-2195
E-mail: bbryant@umich.edu

Daisy Carter - 2 years (CG)
Project Awake
Route 2, Box 282
Coatopa, Alabama 35470
Phone: (205) 652-6823
Fax:   (205) 652-6823
Daniel S. Greenbaum - 2 years (NG)
Health Effects Institute
955 Massachusetts Avenue
Cambridge, MA 02139
Phone: (617) 876-6700, ext. 331
Fax:   (617)876-6709
E-mail: dgreenbaum@healtheffects.org

Leonard Robinson -1  year (IN)
TAMCO
12459 Arrow Highway
P.O. Box 325
Rancho Cucamonga, CA 91739
Phone: (909) 899-0631, ext. 203
Fax:  (909)899-1910
E-mail: RobinsonL@tamcosteel.com

Annabelle Jaramillo-1 year (SL)*
Office of the Governor
State of Oregon
Room 160, State Capitol
Salem, OR 97310
Phone:(503)378-5116
Fax:   (503) 378-6827
E-mail: annabelle.e.jaramillo@state.or.us

Marianne Yamaguchi - 1 year (SL)
Santa Monica Bay Restoration Project
320 West 4th Street, Suite 200
Los Angeles, CA 90013
Phone:(213)576-6614
Fax   : (213)576-6646
Email: myamaguc@rb4.swrcb.ca.gov
* Denotes NEJAC Executive Council Member   AC=Academia
       IN=lndustry      NG=Non-govemmental Organization
   CG=Community Group EV=Environmental Group
   SL=State/Local Government TI=Tribal/lndigenous

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NEJAC Air and Water Subcommittee
List of Members
page 2
Rosa Hilda Ramos - 1 year (CG)*
Community of Catano Against Pollution
La Marine Avenue
Mf 6, Marine Bahia
Catano, Puerto Rico 00962
Phone: (787) 788-0837
Fax:   (787) 788-0837
E-mail: rosah@coqui.net
Damon P. Whitehead -1 year (NG)*
Earth Conservation Corps
P.O. Box 77263
Washington, D.C. 20013-7263
Phone: (202)607-0864
Fax:   (301)483-9779
E-mail: wpd7@yahoo.com
                                                Expiration Dates:
                                                1 year =12/31/2000
                                                2 year =12/31/2001
                                                3 years= 12/31/2002
 ' Denotes NEJAC Executive Council Member   AC=Academia
       IN=lndustry       NG=Non-govemmental Organization
   CG=Community Group EV=Environmental Group
   SL=State/Local Government TI=Tribal/lndigenous

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                          NEJAC ENFORCEMENT SUBCOMMITTEE
                                      List of Members
                                           2000
 DESIGNATED FEDERAL OFFICIAL
 Shirley Pate
 Office of Enforcement and Compliance Assurance
 U.S. Environmental Protection Agency
 1200 Pennsylvania Ave., NW (2201 A)
 Washington, DC 20460
 Phone: (202)564-2607
 Fax:   (202)501-0284
 E-mail: pate.shirley@epa.gov

 ALTERNATE DESIGNATED FEDERAL OFFICIAL
 Robert Banks
 Office of Enforcement and Compliance Assurance
 U. S. Environmental Protection Agency
 1200 Pennsylvania Avenue, NW (MC 2201 A)
 Washington, DC 20460
 Phone: (202) 564-2572
 Fax:(202)501-0284
 E-mail: banks.robert@epa.gov
 CHAIR
 Luke Cole -1 year (NG) *
 Center for Race, Poverty and the Environment
 200 McAllister, Room 315
 San Francisco, CA 94102
 Phone: (415)565-4637
 Fax:    (415) 565-4865
 E-mail: luke@crpesf.org

 VICE-CHAIR
 Savonala Home - 2 years (EV)
 Land Loss Prevention Project
 NC Central Univ.
 1512 South Alston Ave., Rm. 205
 Durham, NC 27707
 Phone: (800) 672-5839 or (919) 688-5969
 Fax: (919) 688-5596 or 929-2878
 E-mail: savilipp@mindspring.com
                                      Other Members
Delbert Dubois -1 year (CG)
Four Mile Hiberian Community Assoc., Inc.
2025 Four Mile Lane
Charleston, SC 29405
Home Phone: (843) 853-4548
Work Phone:  (843) 792-2878
Fax: (843) 792-1741

Rita Harris -1 year (CG)
Community Living in Peace, Inc.
1373 South Avenue
/WempA;/s,TN38106
Phone/Fax: (901) 948-6002
E-mail: xundu@usa.net

Meghan H. Magruder- 3 years (IN)*
Kirkpatrick & Lockhart
1800 Massachusetts Ave., NW ,
Washington, DC 20036
Phone: (202) 778-9420
Fax:(202)778-9100
E-mail: mmagruder@kl.com

Zulene Mayfield- 2 years (CG)
Chester Residents Concerned for Quality Living
2731 West 3rd Street
Chester, PA 19013
Phone: (610)485-6683
Fax:(610)485-5300
E-mail: crcqh @ aol.com
Lillian Mood-1 year (SL)
SC Dept. of Health & Environmental Control
2600 Bull Street
Columbia, SC 29201
Phone: (803) 898-3929
Fax: (803) 898-3942
E-mail: moodlh@columb30.dhec.state.sc.us

Gerald Torres -1 year (AC) *
University of Texas Law School
727 East Dean Keeton, Room 3266
Austin, TX 78705
Phone: (512)471-2680
Fax:   (512)471-0577
E-mail: gtorres @ mail.law.utexas.edu

Robert W. Varney- 3 years (SL)*
Commissioner, New Hampshire Dept. of
 Enivronmental Services
9 Hazen Drive
Concord, New Hampshire 03301
Phone: (603)271-3503
Fax:    (603)271-2867
E-mail: rvarney@des.state.nh.us

Expiration Dates:
1 year = 12/3172000
2 year =12/31/2001
3 years= 12/31/2002
 * Denotes NEJAC Executive Council Member      AC=Academia
Group  IN=lndustry     NG=Non-governmental Organization
TI=Tribal/lndigenous
       CG=Community Group EV=Environmental
       SL=State/Local Government

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                    NEJAC HEALTH AND RESEARCH SUBCOMMITTEE
                                     List of Members
                                          2000
DESIGNATED FEDERAL OFFICIALS
Lawrence Martin
Office of Research and Development
U.S. Environmental Protection Agency
1200 Pennsylvania Avenue, NW (MC 8105)  ,
Washington, DC 20460
Phone: (202) 564-6497
Fax:   (202) 565-2926
E-mail: martin.lawrence@epamail.epa.gov

Chen Wen
Office of Toxic Substances
U. S. Environmental Protection Agency
1200 Pennsylvania Avenue, NW(MC 7409)
Washington, DC 20460
Phone: (202)260-4109
Fax:   (202) 260-0178
E-mail: wen.chen@epa.gov

                                      Other
Don J. Aragon -1 year (T/l) *
Wind River Environmental Quality Commission
Shoshone and Northern Arapaho Tribes
P.O. Box 217
Fort Wasakie, WY 82514
Phone: (307) 332-3164
Fax:   (307) 332-7579
E-mail: wreqc-twe@wyoming.com

Michael DiBartolomeis - 1 year (SL)
California EPA
Health Hazard Assessment
1515 Clay Street, 16th Floor
Oakland, CA 94612
Phone: (510) 622-3164
Fax:   (510) 622-3218
E-mail: mdibarto@oehha.ca.gov

Lawrence J. Dark- 2 years (NG)
Columbia Willamette Area Health Education Center
19365 Southwest 65th Avenue
Tualatin, OR 97062
Phone:(503)281-1657
Fax:   (503) 691-9588
E-mail:

Philip G. Lewis - 2 years (IN)
Rohm and Haas Company
100 Independence Mall West
Philadelphia, PA  19106-2399
Phone: (215) 592-3594
Fax:   (215) 592-3665
E-mail: malt57l@rohmhaas.com

Carlos Porras -1 year (EV)
* Denotes NEJAC Executive Council Member   AC=Academia    CG=Community Group EV=Environmental Group
IN=Industry     NG=Non-govemmental Organization   SL=State/Local Government TI=Tribal/lndigenous
   CHAIR
   Marinelle Payton -1 year (AC)*
   Harvard School of Public Health
   134 Marlborough Street
   Boston, MA 02116
   Phone:  (617)525-2731
   Fax:    (617) 731 -1541 or (617) 247-2147
   E-mail:  payton_mr@hub.tch.harvard.edu

   VICE-CHAIR
   Rose Marie Augustine-2 years (CG)*
   Tucsonans for a Clean Environment
   7051 West Bopp Road
   Tucson, AZ 85735-8621
   Phone:  (520) 883-8424
   Fax:   Same as Phone
   E-mail:
Members
  Communities for a Better Environment
  5610 Pacific Boulevard, Suite 203
  Huntington Park, CA  90255
  Phone: (323) 826-9771 ex. 109
  Fax:    (323) 588-7079
  E-mail: cbela@igc.org

  Peggy Shepard - 3 years (CG)*
  West Harlem Environmental Action
  271 West 125th Street, Suite 211
  New York, NY  10027
  Phone: (212)961-1000
  Fax:    (212)961-1015
  E-mail: wheact@igc.apc.org

  Jane Stahl-2 years (SL)*
  Assistant Commissioner
  State of Connecticut
  Department of Environmental Protection
  79 Elm Street
  Hartford, CT 06106-5127
  Phone: (860)424-3009
  Fax:    (860) 424-4054
  E-mail: jane.stahl@po.state.ct.us

  Jess Womack- 3 years (IN)*
  Senior Corporate Counsel
  ARCO Law
  444 S. Flower Street
  Los Angeles, CA 90071
  Phone: (213) 486-8780
  Fax:    (213) 486-3969
  E-mail: jwomack@mail.arco.com

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                     NEJAC INDIGENOUS PEOPLES SUBCOMMITTEE
                                     List of Members
                                           2000
 DESIGNATED FEDERAL OFFICIAL
 Daniel Gogal
 Office of Environmental Justice
 U.S. Environmental Protection Agency
 1200 Pennsylvania Avenue, NW (MC 2201 A)
 Washington, DC 20460
 Phone: (202)564-2576
 Fax:    (202)501-0740
 E-Mail: gogal.danny@ epamail.epa.gov

 Alternate Designated Federal Official
 Bob Smith
 American Indian Environmental Office
 U.S. Environmental Protection Agency
 1200 Pennsylvania Avenue, NW (MC 4104)
 Washington, DC 20460
 Phone:  (202) 260-8201
 Fax:    (202) 260-7509
 E-mail: smith.bob @ epamail.epa.gov
 CHAIR
 Tom Goldtooth -1 year
 Indigenous Environmental Network
 P. O. Box 485
 Bemidji, MN 56619-0485
 Phone: (218)751-4967
 Fax:   (218)751-0561
 E-mail: ien@apc.ipc.org

 VICE-CHAIR
 Jennifer Hill-Kelly - 2 years (TR)
 Oneida Environmental Health & Safety
 Department
 P. O. Box 365
 3759 West Mason Street
 Oneida, Wl 54155
 Phone: (920) 497-5812
 Fax:   (920) 496-7883
 E-mail: jhillkel@oneidanation.org
                                      Other Members
Brad Hamilton -1 years (SL)
State of Kansas
Office of Native American Affairs
1430 SW Topeka Blvd.
Topeka, KS 66612
Phone: (785)368-7319
Fax:   (785) 296-1795
E-mail: bbhamilt@hr.state.ks.us

Sarah James -1 years (TR)
Council of Athabascan Tribal Government
P.O. Box 51
Arctic Village, Alaska 99722
Phone: (907)587-5999
Fax:   (907) 587-5900
E-mail:

Charles Miller-1 years (NG)
Wendel, Rosen, Black and Dean
1111 Broadway, 24th Floor
Oakland, CA 94607
Phone: (510) 834-6600, ext. 484
Fax:   (510)834-1928
E-mail: cms@charles-m-miller-aty.com
Moses Squeochs - 2 years (TR)
Confederated Tribes and Bands of Yakama
Nation
Yakama Nation Environmental Program
P.O. Box 151, Fort Road
Toppenish, WA 98948
Phone: (509)865-5121 Ext. 659
Fax:   (509) 865-5522
E-mail: mose@yakama.com

Dean B. Suagee - 2 years (AC)
Vermont Law School
First Nations Environmental Law Program
Chelsea Street
South Royalton, VT 05068
Phone: (802) 763-8303 ext. 2341
Fax:   (802)763-2940
Email: dsuagee@vermontlaw.edu

Jana L. Walker- 3 years (IN)
Attorney at Law
141 Placitas Trails Road
Placitas, NM  87043
Phone: (505)867-0579
Fax:   (505) 867-0579
E-mail: ndnlaw@sprintmail.com
 : Denotes NEJAC Executive Council Member   AC=Academia
       IN=lndustry     NG=Non-govemmental Organization
 CG=Community Group EV=Environmental Group
 SL=State/Local Government TI=Tribal/lndigenous

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                        NEJAC INTERNATIONAL SUBCOMMITTEE
                                     List of Members
                                           2000
 DESIGNATED FEDERAL OFFICIAL
 Wendy Graham
 Office of International Activities
 U.S. Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 2670R)
 Washington, DC 20460
 Phone: (202)564-6602
 Fax:   (202) 565-2408
 E-mail: graham.wendy@epamail.epa.gov
 CHAIR
 Arnoldo Garcia -1 year (EV)*
 Development Director
 Urban Habitat Program
 226341st Avenue
 Oakland, CA 94601
 Phone: (415)561-3332
 Fax:    (415)561-3334
 E-mail: agarcia@igc.apc.org

 VICE-CHAIR
 Alberto Saldamando - 2 years (NG)
 International Indian Treaty Council
 2390 Mission Street, Suite 301
 San Francisco, CA 94110
 Phone: (415)641-4482
 Fax:    (415) 641-1298
 E-mail: saldomando@hotmail.com
                                      Other Members
Maria del Carmen Libran -1 year (AC)
Department of Horticulture
University of Puerto Rico-Mayaguez
G.P.O. Box 5000 College Station
Mayaguez, PR 00681-5000
Phone: (787) 832-4040, X2088
Fax:   (787) 265-0860
E-mail: mjibran @ rumac.upr.clu.edu

Beth M. Hailstock-1 year (SL)
Cincinnati Department of Health
3101 Bumet Avenue-
Cincinnati, OH 45229
Phone: (513) 357-7206
Fax:   (513) 357-7290
E-mail: beth.hailstock@chdbum.rcc.org

Fernando Cuevas - 2 years (NG)*
Farm Labor Organizing Committee
326 East Maple Street
Winter Garden, FL 34787
Phone: (407) 877-2949
Fax:   (407) 877-0031
E-mail: flocflorida@aol.com

A. Caroline Hotaling - 2 years (CG)
Border Ecology Project
P.O. Drawer CP
Bisbee, AZ 85603
Phone: (520) 432-7456
Fax:  (520) 432-7473
E-mail: bep@primenet.com
Albert P. Adams - 2 years (IN)
Piquniq Management Corporation
8221 Summerset Drive
Anchorage, AK 99801
Phone: (907)522-9313
Fax:   (907) 349-2814
E-mail: senator_al_adams @ legis.state.ak.us

Robert Holmes -1 year (AC)
Community Center for Studies in Public Policy
Clark Atlanta University
James P. Brawley Drive at Fair Street, SW
Atlanta, G A 30314
Phone: (404)880-8089
Fax:   (404) 880-8090
E-mail: scspp@cau.edu

Tseming Yang - 3 years (AC)*
Vermont Law School
Chelsea Street, Whitcomb House
South Royalton, VT 05068
Phone: (802) 763-8303 ext 2344
Fax:   (802) 763-2663
E-mail: tyang@vermontlaw.edu


Expiration Dates:
1 year = 12/31/2000
2 year =12/31/2001
3 years= 12/31/2002
* Denotes NEJAC Executive Council Member   AC=Academia
       IN=lndustry     NG=Non-govemmental Organization
 CG=Community Group EV=Environmental Group
 SL=State/Local Government TI=Tribal/lndigenous

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                           NEJAC PUERTO RICO SUBCOMMITTEE
                                      List of Members
                                           2000
DESIGNATED FEDERAL OFFICIAL
Teresita Rodriguez
Caribbean Environmental Protection Division
U. S. Environmental Protection Agency
Centra Europa Building, Suite 417
1492 Ponce De Leon Avenue, Stop 22
Santurce, PR 00907-4127
Phone: 787/729-6951  Ext. 266
Fax:   787/729-6927
E-mail: Rodriguez.Teresita@epa.gov
CHAIR
Car/os M. Padin, Ph.D - (3) (AC) *
Dean, School of Environmental Affairs
The Metropolitan University (UMET)
P.O. Box21150
San Juan, Puerto Rico 00928-1150
Phone: 787/766-1717    ext.6412
Fax: 787/751-5540
E-mail: um_cpadin@suagm.edu
                                      Other Members
Rosa Corrada, Esq. - (3) (SL)
Governor's Advisor on Infrastructure, Natural
Resources and Environmental Quality
La Fortaleza
P.O. Box 902-0082
San Juan, PR 00902-0082
Phone: 787/725-1984
Fax: 787/724-5743

Eris Del Carman Galan-Jimenez- (3 ) (EV)
COTICAM
P.O. Box 1391
Manati, PR 00674
Phone: .787/884-2110 ext. 45
Fax: 787/884-0212
E-mail: coticam@atenas.com

Iris Cuadrado Gomez- (1) (SL)
Special Assistant to the Mayor
Director Planning Dept
Municipality of Humacao
P.O. Box 178
Humacao, PR 00792
Phone: 787/852-3066
Fax: 787/850-6767

Juan C. Gomez-Escarce, Esq. - (2) (NGO)
Puerto Rico Chamber of Commerce
Fiddler, Gonzalez & Rodriguez
P.O. Box 363507
San Juan, Puerto Rico 00936-3507
Phone: 787/753-3113
Fax: 787/759-3108
E-mail: jgomez@fgrlaw.com
Efrain Emmanuelli Rivera - (2) (EV)
Comite Pro-Rescata del Ambiente de Guayannilla
Box 560082
Guayanilla, PR 00656
Phone: 787/835-7010
Fax: 787/835-0411

Jennifer Mayo, Esq. - (2) (SL)
EQB Board of Directors
Junata de Calidad Ambiental
P.O. Box 1148
Santruce, PR 00910
Phone: 787/767-8181
Fax: 787/754-8294

Rosa Hilda Ramos - (1) (CG) *
(currently on Air & Water Subcommittee)
Community of Catano Against Pollution
La Marina Avenue
Mf 6, Marina Bahia
Catano, Puerto Rico 00962
Phone: 787/788-0837
Fax: 787/788-0837
E-mail: rosah@coqui.net

Jose Cruz Rivera - (3) (CG)
Committee Opposed to the Establishment
of the Anasco Regional Landfill
P.O. Box 469
Anasco, PR 00610-0469
Phone: 787/249-7150
Fax:
 * Denotes NEJAC Executive Council Member   AC=Academia    CG=Community Group EV=Environmental Group
IN=lndustry      NG=Non-governmental Organization   SL=State/Local Government TI=TribaI/lndigenous

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NEJAC Puerto Rico Subcommittee
List of Members for 2000
Page 2	
Rafael Robert, Esq. - (2) (IN)
Regional Director, Public Affairs Government
Relations
Merck Sharp & Dohme
Plaza Scotia Bank - Suite 502
273 Ponce De Leon Avenue
San Juan, Puerto Rico 00917-1902
Phone: 787/756-7544
Fax: 787/758-3943

Grac/e/a /. Ramirez-Toro, Ph.D - (2) (AC)
Interamerican University of Puerto Rico
CECIA-UIPR
Call Box 5100
San German Campus
San German Puerto Rico 00683
Phone: 787/264-1912 ext. 7630
Fax: 787/892-2089
Michael Szendry, Ph.D - (3) (IN)
Bacardi Corporation
P.O. Box 363549
San Juan, Puerto Rico 00936-3549
Phone: 787/788-1500
Fax: 787/788-0340

(1) - Term expires - 12/31/2000
(2) - Term expires - 12/31/2001
(3) - Term expires - 12/31/2002


* Denotes NEJAC Council Member

AC = Academia
EV = Environmental Group
CG = Community Group
NG = Non-governmental Organization
SL = State/Local Government
IN = Industry/Business
T/I = Tribal/Indigenous
* Denotes NEJAC Executive Council Member   AC=Academia     CG=Community Group EV=Environmental Group
IN=lndustry       NG=Non-governmental Organization   SL=State/Local Government TI=Tribal/lndigenous

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                  NEJAC WASTE AND FACILITY SITING SUBCOMMITTEE
                                      List of Members
                                            2000
 DESIGNATED FEDERAL OFFICIAL
 Kent Benjamin
 Office of Solid Waste and Emergency Response
 U.S. Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 5101)
 Washington, DC 20460
 Phone:  (202) 260-2822
 Fax:    (202) 260-6606
 E-mail:  benjamin.kent@epa.gov
CHAIR
Vernice Miller- Travis 1 year (EV)*
Partnership for Sustainable Brownfields
Redevelopment
104 Jewett Place
Bowie, MD 20721
Phone: (410) 338-2512 Mon - Tue
Fax:   (410)338-2511
E-mail: vdmt@bellatlantic.net

VICE-CHAIR
Veronica Eady. - 3 years (SL)
Executive Office of Environmental Affairs
Commonwealth of Massachusetts
100 Cambridge Street, 20th Floor
Boston, MA 02202
Phone: (617)626-1053
Fax:   (617)626-1181
E-mail: veronica.eady@state.ma.us
                                      Other Members
Denise D. Feiber- 2 years (IN)
Environmental Science and Engineering, Inc.
404 SW 140th Terrace
Newberry, FL 32669-3000
Phone: (352) 333-2605
Fax:   (352) 333-6633
E-mail: ddfeiber@esemail.com

Lorraine Granado - 2 years (CG)
Cross Community Coalition
2332 E. 46th Avenue
Denver, CO  80216
Phone: (303) 292-3203
Fax:   (303) 292-3341
E-mail: lorrgranado@yahoo.com

Pat Hill Wood- 3 years (IN)*
Senior Manager
Federal Regulatory Affairs
Georgia Pacific Corporation
1875 Eye Street, N.W., Suite 775
Washington, DC 20006
Phone: (202) 659-3600
Fax:   (202) 223-1398
E-mail: pkwood@gapac.com

Melvin "Kip" Holden - 3 years (SL)
838 North Boulevard
Baton Rouge, Louisiana 70802
Phone: (225) 346-0406 or (225) 774-8017
Fax:    (225)771-5852
E-Mail:
 Michael Holmes -1 year (AC)
 St. Louis Community College
 Northside Education Center
 4666 National Bridge
 St. Louis, MO 63115
 Phone: (314)381-3822
 Fax:    (314)381-4637
 E-mail: mholmes@ccm.stlcc.cc.mo.us

 Donna Gross McDaniel - 3 years (NG)
 Laborers-AGC Education and Training Fund
 P.O. Box 37
 37 Deerfield Road
 Pomfret Center, CT 06259
 Phone: (860) 974-0800 ext. 109
 Fax:    (860) 974-3157
 E-mail: dmcdaniel @ laborers-agc.org

 Katharine B. McGloon - 3 years (IN)
 Chemical Manufacturers Association
 1300 Wilson Boulevard
 Arlington, VA 22209
 Phone:(703)741-5812
 Fax:    (703)741-6812
 E-mail: kate_mcgloon@ cmahq.com

 Harold Mitchell- 3 years (CG)*
 Director
 Regenesis, Inc.
 101 Anita Drive
 Spartanburg, SC 29302
 Phone: (864) 542-8420
 Fax:   (864) 542-8420
 E-mail:
 ' Denotes NEJAC Executive Council Member   AC=Academia
       IN=lndustry     NG=Non-govemmental Organization
 CG=Community Group EV=Environmental Group
 SL=State/Local Government TI=Tribal/lndigenous

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NEJAC Waste and Facility Siting Subcommittee
List of Members for 2000
Page 2                              	
Neftali Garcia Martinez - 2 years (EV)
Scientific and Technical Services
RR-2 Buzon
1722 Cupey Alto
San Juan, Puerto Rico 00926
Phone: (787) 292-0620
Fax:   (787) 760-0496
E-mail: sctinc@caribe.net

David Moore - 2 years (SL)*
Mayor, City of Beaumont
Office of City Manager
P. O. Box 3827
Beaumont, TX 77704
Phone: (409) 880-3716 (Barbara)
Fax:   (409)880-3112
E-mail:

Mary Nelson - 3 years (CG)
Bethel New Life, Incorporated
4950 West Thomas
Chicago, IL 60651
Phone: (773) 473-7870
Fax:   (773) 473-7871
E-mail: mnelson367@aol.com

Brands Lee Richardson -1 year (NG)
Women Like Us '
P.O. Box 31003
3008 24th Place
Washington, DC 20030
Phone: (202)678-1978
Fax:   (202)889-1917
E-mail: womenlikeusbr® hotmail.com
Mervyn Tano - 2 years (TR)
International Institute for Indigenous
Resource Management
444 South Emerson Street
Denver, CO 80209-2216
Phone: (303) 733-0481
Fax:   (303) 744-9808
E-mail: mervtano@aol.com

Michael Taylor- 2 years (IN)
Vita Nuova
97 Head of Meadow
Newtown, CT 06470
Phone: (203)270-3413
Fax:   (203) 270-3422
E-mail: taylorm@pcnet.com

Johnny Wilson -1 year (AC)
Clark Atlanta University
2518 Springdale Road, SW
Atlanta, GA 30315
Phone: (404) 880-8245
Fax:   (404)880-8717
E-mail:
Expiration Dates:
1 year = 12/31/2000
2 year =12/31/2001
3 years= 12/31/2002
 ' Denotes NEJAC Executive Council Member   AC=Academia
       IN=lndustry      NG=Non-govemmental Organization
 CG=Community Group EV=Environmental Group
 SL=State/LocaI Government  TI=Tribal/lndigenous

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    APPENDIX C
LIST OF PARTICIPANTS
                       1

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This page left intentionally blank

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 Total: 536
                        May 2000 NATIONAL ENVIRONMENTAL JUSTICE ADVISORY COUNCIL
                                                         List of Attendees
David Abbott
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9631
Fax:   Not Provided
E-mail: abbott.david@epa.gov

Mary Abramb
Life Scientist
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30302
Phone: 404-562-8983
Fax:   Not Provided
E-mail: abramb.mary@epa.gov

Darshan Acharya
Department of Environmental and
Occupational Health
Rollins School of Public Health
Emory University
1518 Clifton Road NE
Atlanta, GA 30322
Phone: 404-727-3698
Fax:   404-727-8744
E-mail: darshanvision@hotmail.com

Navneet Ahluwalia
Department of Environmental and
Occupational Health
Rollins School of Public Health
Emory University
1518 Clifton Road NE
Atlanta, GA 30322
Phone: 404-727-3698
Fax:   404-727-8744
E-mail: neetu@gwu.edu

Abena Ajanaku
Community Involvement
Coordinator/Environmental Justice Coordinator
Hazardous Waste Management Branch
Environmental Protection Division
Department of Natural Resources
205 Butler Street SE Suite 1162
Atlanta, GA 30334
Phone: 404-657-8688
Fax:   404-651-9425
E-mail: abena_ajanaku@mail.dnr.state.ga.us
Elmer Akin
Chief, Office of Technical Services
Waste Management Division
Region 4
US Environmental Protection Agency
61 Forsyth Street SW   .
Atlanta, GA 30303-3104
Phone: 404-562-8634
Fax:   404-562-8628
E-mail: akin.elmer@epa.gov

Tim Aldrich, PhD MPH
Chief, Chronic Disease
Epidemiology Department
South Carolina Department of Health and
Environmental Control
2600 Bull Street
Columbia, SC 29201
Phone: Not Provided
Fax:   Not Provided
E-mail: Not Provided

Constance Alexander
Outreach and Education Coordinator
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9382
Fax:   404-562-9343
E-mail: alexander.constance@epa.gov

Henry A. Anderson
Chief Medical Officer
Wisconsin Division of Public Health
1414 East Washington Avenue Room 96
Madison, Wl 53703
Phone: 608-266-1253
Fax:   608-267-4853
E-mail: Not Provided

Mable B Anderson
Village Creek Human and Environmental
Society
PO Box 8331
Birmingham, AL  35218
Phone: 205-791-9876
Fax:   205-716-1071
E-mail: Not Provided
Leah Annulis
Department of Environmental and
Occupational Health
Rollins School of Public Health
Emory University
1518 Clifton Road NE
Atlanta, GA 30322
Phone: 404-727-3697
Fax:   404-727-8744
E-mail: lannuli@learnlink.emory.edu

Thomas M Armitage
Standards and Applied Science Division
Office of Water
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 4305)
Washington, DC 20460
Phone: 202-260-5388
Fax:   202-260-9380
E-mail: armitage.thomas@epa.gov

John A Armstead
Deputy Director
Environmental Services Division
Region 3
US Environmental Protection Agency
1650 Arch Street
Philadelphia, PA 19103-2029
Phone: 215-814-3127
Fax:   215-814-2782
E-mail: armstead.john@epa.gov

Warren Arthur
Project Manager
Office of Environmental Justice
Region 6
US Environmental Protection Agency
1445 Ross Avenue Suite 1200 (6RA-DJ)
Dallas, TX 75202-2733
Phone: 214-665-8504
Fax:   214-665-7360
E-mail: arthur.warren@epa.gov

Rose M Augustine
President
Tucsonans for A Clean Environment
7051 West Bopp Road
Tucson, AZ 85735-8621
Phone: 520-883-8424
Fax:   Not Provided
E-mail: Not Provided
                                                                                                    Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 2
 Danielle Ayan
 G1S Specialist
 Fox Environmental
 1900 Gleaton Road
 Conyers, GA 30013
 Phone: 777-922-9882
 Fax;   603-462-9076
 E-mail: d_ayan@hotmail.com

 WDwight Bailey
 Program Manager
 Atlanta Regional Office
 US Department of Energy
 75 Spring Street SW Suite 200
 Atlanta, GA  30303-3308
 Phone: 404-562-0564
 Fax:   404-562-0538
 E-mail: dwight.bailey@ee.doe.gov

 David  B Baker
 President
 Community Against Pollution
 1012 West 15»h Street
 Anniston, AL
 Phone: 256-236-6773
 Fax:   256-236-6248
 E-mail: Not Provided

 Olivia  Baiandran
 Regional Administrators Office
 Region 6
 US Environmental  Protection Agency
 1445 Ross Avenue (6RA-DJ)
 Dallas, TX 75202-2733
 Phone: 214-665-7257
 Fax:   214-665-6648
 E-mail: balandran.olivia@epa.gov

 Jerome Baiter
 Public Interest Law Center of Philadelphia
 125 South Ninth Street
 Philadelphia, PA 19107
 Phone: 215-627-7100
 Fax:    215-627-3183
 E-mail: Not Provided

 Beverly Banister
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
Atlanta, GA 30303-8960
 Phone: 404-562-9345
 Fax:    404-562-9318
 E-mail:  banister.beverly@epa.gov
 Robert Banks
 Office of Enforcement and Compliance
 Assurance
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 2201 A)
 Washington, DC  20460
 Phone: 202-564-2572
 Fax:    202-501-0284
 E-mail: banks.robert@epa.gov

 Elvie Barlow
 Environmental Scientist
 Environmental Justice and Community Liaison
 Program
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, GA 30303-8960
 Phone: 404-562-9650
 Fax:   404-562-9664
 E-mail: barlow.elvie@epa.gov

 Elizabeth  Bartlett
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, GA 30303
 Phone: 404-562-9122
 Fax:   404-562-9095
 E-mail: bartlett.elizabeth@epa.gov

 Betty Barton
 Division of Water Resources
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, GA 30303
 Phone: 404-562-9381
 Fax:   404-562-8692
 E-mail: barton.betty@epa.gov

 Rolando Bascumbe
Associate Regional Counsel
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
Atlanta, GA 30303-8960
 Phone: 404-562-9562
 Fax:   Not Provided
 E-mail: Not Provided
 Jackita Bass
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, GA 30303
 Phone: 404-562-8544
 Fax:    404-562-8518
 E-mail: bass.jackita@epa.gov

 Tom Baugh
 US Fish and Wildlife Service
 1875 Century Boulevard
 Atlanta, GA 30345
 Phone: 404-679-7133
 Fax:    404-679-7285
 E-mail: springmeadow@mindspring.com

 Kent Benjamin
 Program Analyst
 Outreach and Special Projects Staff
 Office of Solid Waste and Emergency
 Response
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 5101)
Washington, DC 20460
 Phone: 202-260-2822
 Fax:    202-260-6606
 E-mail: benjamin.kent@epa.gov

 Lynorae Benjamin
Air Pesticides and Toxic Management Division
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9040
Fax:   404-562-9019
E-mail: benjamin.lynorae@epa.gov

Reginald Bessmer
Appraisal Specialist
Uniform Act Policy & Guidance Team
Federal Highway Administration
US Department of Transportation
400 7th Street SW
Washington, DC 20590
Phone: 202-366-2037
Fax:   202-366-3713
E-mail: reginald.bessmer@fhwa.dot.gov
                                                                                                      Final: September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page3
MaVynee Oshun Betsch
Black Rhino Vegetarian Society
5466 Gregg Street
American Beach, FL 32034
Phone: 904-277-2274
Fax:   Not Provided
E-mail: Not Provided

Pamela Bingham
Research Engineer
Bingham Consulting Services
PO Box 8248
Silver Spring, MD 20907
Phone: 703-922-8870
Fax:   301-585-8911
E-mail: bingham.pamela@epa.gov

Debbie Bishop
Office of International Activities
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 261 OR)
Washington, DC 20460
Phone: 202-564-6437
Fax:   202-565-5412
E-mail: bishop.debbie@epa.gov

Ferial Bishop
Mayoral
Trash Transfer Site Selection Panel
3210 Chestnut Street NW
Washington, DC 20015
Phone: 202-686-1175
Fax:   202-244-1025
E-mail: Not Provided

Carl Blair
Regional Representative
Agency for Toxic Substances and Disease
Registry
61 Forsyth Street SW 10th Floor
Atlanta, GA  30303
Phone: 404-562-1786
Fax:   404-562-1790
E-mail: blair.carl@epa.gov

Myra Blakely
Workforce Strategist
Office of Solid Waste and Emergency
Response
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 5105)
Washington, DC 20460
Phone: 202-260-4527
Fax:   202-260-6606
E-mail: blakely.myra@epa.gov
Elodia M Blanco
Concerned Citizens of Agriculture Street
Landfill
2938 Benefit Street
New Orleans, LA 70126
Phone: 504-947-0511
Fax:   Not Provided
E-mail: emblanco2@aol.com

Jermane Bond
Service Training for Environmental Progress
PO Box 567 Station 17 VUMC
Nashville, TN 37232-8180
Phone: 615-385-5582
Fax:   615-298-9217
E-mail: jermane.m.bond@vanderbilt.edu

Robert W Bookman
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9169
Fax:   404-562-9164
E-mail: bookman.robert@epa.gov

Bob Borzelleri
Chief Deputy Director
California Department of Toxic Substances
Control
400 P Street 4th Floor
PO Box 806
Sacramento, CA 95812-0806
Phone: 916-322^0504
Fax:   916-327-4495
E-mail: bborzell@dtsc.ca.gov

Eve Boss
Lead Region Tribal Coordinator
Region 6
US Environmental Protection Agency
1445 Ross Avenue
Dallas, TX 75202
Phone: 214-665-8110
Fax:   Not Provided
E-mail: boss.eve@epa.gov

Kerry Bowie
National Society of Black Engineers
12516 Audelia Road #2212
Dallas, TX 75243
Phone: 972-644-4517
Fax:   972-995-4435
E-mail: kerry.bowie@alum.mit.edu
Doris Bradshaw
Defense Depot Memphis Tennessee
Concerned Citizens Committee
1458 East Mallory Avenue
Memphis, TN  38106
Phone: 901-942-0329
Fax:   901-942-0800
E-mail: ddmtccc411@aol.com

Kenneth Bradshaw
Program Director
Defense Depot Memphis Tennessee
Concerned Citizens Committee
1458 East Mallory Avenue
Memphis, TN  38106
Phone: 901-942-0329
Fax:   901-942-0800
E-mail: ddmtccc411@aol.com

Raney Yvonne Branch
Emory University
PO Box 22299
Atlanta, GA 30322
Phone: 404-251-4024
Fax:   Not Provided
E-mail: rybranc@learnlink.emory.edu

de'Lisa Bratcher
Public Accountability Specialist
Savannah River Operations Office
US Department of Energy
POBoxA
Aiken, SC 29802
Phone: 803-725-5351
Fax:   Not Provided
E-mail: Not Provided

Jose T Bravo
Southwest Network for Environmental and
Economic Justice
1066 Larwood Road
San Diego, CA 92114
Phone: 619-461-5011
Fax:   619-461-5011
E-mail: tonali@pacbell.net

Robert Brenner
Deputy Assistant Administrator
Office of Air and  Radiation
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 4103A)
Washington, DC 20460
Phone: 202-564-1668
Fax:   202-505-0394
E-mail: brenner.robert@epa.gov
                                                                                                      Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 4
 Sue Briggum
 Director
 Government Affairs
 Waste Management Inc
 601 Pennsylvania Avenue NW Suite 300 North
 Bdtg
 Washington, DC  20460
 Phone: 202-628-3500
 Fax:   202-628-0400
 E-mail: sue_briggum@wastemanagement.co
       m
 Richard S Bright
 Associate Director, Community Relations
 Center for Public Health Practice
 Department of Community Health and
 Prevention Plannning
 Morehouse School of Medicine
 720 Westview Drive SW
 Atlanta, GA 30310-1495
 Phone: 404-761-7973
 Fax:   404-761-9599
 E-mail: r-bright@mindspring.com
 Aretha Brocket!
 Staff Assistant
 Office of Pollution Prevention arid Toxics
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 7401)
Washington. DC 20460
 Phone: 202-260-3810
 Fax:   202-260-0575
 E-mail: brockett.aretha@epa.gov   •

 Damon A. Brown
 Office of Pollution Prevention and Toxics
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 7406)
Washington, DC 20460
Phone: 202-260-2278
Fax:   Not Provided
E-mail: brown.damon@epa.gov

Donald R Brown
Executive Director
People for Environmental Progress
1801 Sonoma Boulevard Suite117
Vallejo. CA 94590
Phone: 707-480-0154
Fax:   707-554-2874
E-mail: cbebuckett@igc.org
 Ellen Brown
 Office of Air and Radiation
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 6103A)
 Washington, DC  20460
 Phone:  202-564-1669
 Fax:    Not Provided
 E-mail:  brown.ellens@epa.gov

 Jimmy L Brown, PhD
 NPU-O
 Emory University
 24 East Lake Drive, NE
 Atlanta,  GA 30317
 Phone:  404-336-0705
 Fax:    404-687-2791
 E-mail: jimmybrownl @mailcity.com

 Oscar Brown
 Coordinator
 Mclntosh E J Taskforce Inc
 17975 Mounico Loop Road E
 Mt. Vernon, AL 36560
 Phone:  ???-829-9973
 Fax:    Not Provided
 E-mail:  Not Provided

 Sherry Brown-Wilson
 Region 6
 US Environmental Protection Agency
 1445 Ross Avenue
 Dallas, TX 75202
 Phone: 214-665-8050
 Fax:   214-665-2182
 E-mail: brown-wilson.sherry@epa.gov

 Bunyan Bryant
 Professor
 School of Natural Resources and Environment
 University of Michigan
430 East University Dana Building
Ann Arbor, Ml 48109-1115
Phone: 734-763-2470
Fax:   734-963-2470
E-mail: bbryant@umich.edu
 Sharunda Buchanan, PhD
 Chief, Surveillance Section
 Lead Poisoning Prevention Branch
 National Center for Environmental Health
 1600 Clifton Road NE (MS E25)
 Atlanta, GA 30333
 Phone: 404-639-1781
 Fax:   404-639-2570
 E-mail: sdb4@cdc.gov

 Estelle Bulka
 Office of Site Remediation Enforcement
 Office of Enforcement and Compliance
 Assurance
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 2273A)
 Washington, DC 20460
 Phone: 202-564-5111
 Fax:   202-564-0091
 E-mail: bulka.estelle@epa.gov

 Robert D Bullard
 Director
 Environmental Justice Resource Center
 Clark Atlanta University
 223 James P Brawley Drive SW
 Atlanta, GA 30314
 Phone: 404-880-6911
 Fax:   404-880-6909
 E-mail: ejrc@cau.edu

 William Burkhart
 Manager, Environmental Government
 Relations
 Corporate Health, Safety, and Environment
The Procter & Gamble Company
 11310 Cornell Park Drive
Cincinnati, OH 45242
Phone: 513-626-4411
Fax:   513-626-1678
E-mail: burkhart.wt@pg.com

Juanita Burney, RHIA MPA CPHQ
Coordinator
Richmond County (GA) Health Department
,U.S.
Phone: Not Provided
Fax:   Not Provided
E-mail: Not Provided
                                                                                                     Final: September 12, 2000

-------
May 2000 NEJAC Meeting
List of Attendees
Pages
Bill Burns
Environmental Awareness Foundation
P.O. Box77116
Atlanta, GA 30357
Phone: 404-572-9592
Fax:   Not Provided
E-mail: eafl 00@mailcity.com

Josephine Byas
Team Trainer
CARAT Team
Coalition of Black Trade Unionists
United Auto Workers
1023 Larkspur Street
Jackson, MS
Phone: 601-362-3315
Fax:   601-924-4503
E-mail: Not Provided

Kevin Cahill
Director, Government & Community Affairs
Solutia Inc
PO Box 66760
St. Louis, MO 63166-6760
Phone: 314-674-7518
Fax:   314-674-1585
E-mail: kscahi@solutia.com

Mike Callahan
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 8623-D)
Washington, DC 20460
Phone: 202-564-3201
Fax:   202-565-0077
E-mail: callahan.michael@epa.gov

Cassander Campbell
CARAT Team
Coalition of Black Trade Unionists
United Auto Workers
1513 Wabash Avenue
Flint, Ml 48504
Phone: 810-233-4317
Fax:   Not Provided
E-mail: Not Provided
Ray Campion
President
Mickey Leland National Urban Air Toxics
Research Center
P. O. Box 20286
7000 Fannin Suite 700
Houston, TX 77225-0286
Phone: 713-500-3448
Fax:   713-500-0345
E-mail: rcampion@sph.uth.tmc.edu

Pat Carey
Office of Solid Waste and Emergency
Response
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 5204G)
Washington, DC 20460
Phone: 703-603-8772
Fax:   703-603-9100
E-mail: carey.pat@epa.gov

Steve Carmichael
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9374
Fax:   404-562-9343
E-mail: carmichael.steve@epa.gov

David Carpenter
Professor
School of Public Health
University of Albany
1 University Place
Rensselaer, NY 12144
Phone: 518-525-2660
Fax:   518-525-2665
E-mail: carpent@cnsvax.albany.edu

Connie Carr
Region 3
US Environmental Protection Agency
1650 Arch Street
Philadelphia, PA  19103
Phone: 215-814-3147
Fax:   215-814-30001
E-mail: carr.cornelius@epa.gov
Gary Carroll
Office of Environmental Justice
Office of Enforcement and Compliance
Assurance
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2201 A)
Washington, DC 20460
Phone:.  202-564-2404
Fax:    202-501-0740
E-mail:  Not Provided

Brandon E. Carter
Federal  Facilities Restoration & Reuse
Office of Solid Waste and Emergency
Response
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 5106)
Washington, DC 20460
Phone:  202-260-8302
Fax:    202-260-5646
E-mail:  carter.brandon@epa.gov

Daisy Carter
Director
Project Awake
Route 2 Box 282
Coatopa, AL 35470
Phone:  205-652-6823
Fax:    205-652-6823
E-mail:  Not Provided

Deborah Carter
Environmental Protection Specialist
Environmental Justice and Community Liaison
Program
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta,  GA 30303-8960
Phone:  404-562-9668
Fax:    404-562-9664
E-mail:  carter.deborah@epa.gov

Shakeba Carter-Jenkins
Assistant to the Environmental Justice
Coordinator
Region 2
US Environmental Protection Agency
290 Broadway, 26th Floor
New York, NY 10007
Phone:  212-637-3585
Fax:    212-637-4943
E-mail:  carter-jenkins@epa.gov
                                                                                                      Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 PageB
 Johnny Casmore, Jr
 Exxon Mobil Corporation
 PO Box 3311
 Beaumont, TX 77704
 Phone:  409-757-1792
 Fax:    409-757-3840
 E-mail: johnny_casmore@email.mobil.com

 Mary Helen Cervantes-Gross
 Chief
 Public Outreach Branch
 Region 2
 US Environmental Protection Agency
 290 Broadway
 New York, NY 10007
 Phone: 212-637-3675
 Fax:   212-637-4445
 E-mail: cervantes.mary@epa.gov
 Deborah Chapman
 Region 5
 US Environmental Protection Agency
 77 West Jackson  Boulevard
 Chicago, IL 60604
 Phone: 312-886-4579
 Fax:   Not Provided
 E-mail: chapman.deborah@epa.gov

 Larry Charles, Sr.
 Executive Director
 ONE/CHANE Inc
 2065 Main Street
 Hartford, CT 06120
 Phone: 860-525-0190
 Fax:   860-522-8266
 E-mail: lcharles@snet.net

 Lucio Chen
Technical Information Specialist
 National Library of Medicine
 National Institutes of Health
 8600 Rockville Pike
 Building 38A (35308)
 Bethesda, MD 20894
Phone: 301-496-5684
Fax:   301-480-3537
E-mail: chenl@mail.nlm.nih.gov
 John Chiaramonte
 Director
 Government Affairs
 Olin
 511 Castlewood Trail
 Chattanooga, TN 37421
 Phone: 423-510-9622
 Fax:   423-510-9805
 E-mail: jjchiaramonte@corp.olin.com

 Sheila Clark
 Region 5
 US Environmental Protection Agency
 77 West Jackson Boulevard 
-------
May 2000 NEJAC Meeting
List of Attendees
Page?
Monica Abreu Conley
New York Department of Environmental
Conservation
50 Wolf Road Room 611
Albany, NY 12233-1040
Phone: 518-457-6558
Fax:   518^57-6996
E-mail: mlconley@gw.dec.state.ny.us

Katsi Cook
Akwesasne Mohawk Nation
226 Blackman Hill Road
Berkshire, NY 13736
Phone: 607-657-8583
Fax:   607-255-0185
E-mail: Not Provided

Gregg  A Cooke
Regional Administrator
Region 6
US Environmental Protection Agency
1445 Ross Avenue Suite 1200
Dallas,  TX 75202-2733
Phone: 214-665-2100
Fax:   214-665-6648
E-mail: cooke.gregg@epa.gov

Michael Corbin
Attorney at Law
The Corbin Law Firm PC
1718 M Street NW Suite 299
Washington, DC 20036
Phone: 703-897-1577
Fax:   703-897-9767
E-mail: mcorbin@cpcug.org

Cecil Corbin-Mark
Program Director
West Harlem Environmental Action
271 West 125th Street No 211
New York, NY 10027
Phone: 212-961-1000
Fax:   212-961-1015
E-mail: wheact@igc.apc.org

Jason  Corburn
Department of Urban Studies and Planning
Massachusetts Institute of Technology
77 Massachusetts Avenue Room 9-314
Cambridge, MA 02139
Phone: 617-253-2025
Fax:   617-253-7402
E-mail: jasontc@mit.edu
Pat Costner
Senior Scientist
Greenpeace International
PO Box 548
Eureka Springs, AR 72632
Phone: 501-253-8440
Fax:   501-253-5540
E-mail: pat.costner@dialb.greenpeace.org

Ann Coyle
Office of Regional Counsel
Region 5
US Environmental Protection Agency
77 West Jackson Boulevard (C-14J)
Chicago, IL 60604
Phone: 312-886-2248
Fax:   312-886-0747
E-mail: coyle.ann@epa.gov

Marvin Grafter
Wollfolk Citizens Response Group
PO Box 899
901 Edward Street
Fort Valley, GA 31030
Phone: 912-822-9714
Fax:   912-822-9444
E-mail: Not Provided

Jenny Craig
Office of Air and Radiation
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 6103A)
Washington, DC 20460
Phone: 202-564-1674
Fax:   202-564-1557
E-mail: craig.jeneva@epa.gov

Frankie Grain
Department of Environmental and
Occupational Health
Rollins School of Public Health
Emory University
1518 Clifton Road NE
Atlanta, GA 30322
Phone: 404-727-3697
Fax:   404-727-8744
E-mail: fcrain@emory.edu

Sarah Craven
Sierra Club
1447 Peachtree Street Suite 305
Atlanta, GA 30309
Phone: 404-888-9778 ext. 223
Fax:   404-832-0136
E-mail: lasierra@mindspring.com
Vena Crichlow-Scales
Office of Minority Health
Georgia Department of Community Health
2 Peachtree Street Room 15-262
Atlanta, GA 30303-3159
Phone:  404-463-3450
Fax:    404-657-2769
E-mail:  vscales@dch.state.ga.us

Ethel L Crisp
Environmental Protection Specialist
Waste Peticides and Toxics Division
Region 5
US Environmental Protection Agency
77 West Jackson Boulevard (DM-7J)
Chicago, IL 60604-3590
Phone:  312-353-1442
Fax:    312-353-6519
E-mail:  crisp.ethel@epa.gov

Elizabeth Crowe
Chemical Weapons Working Group
PO Box 467
Berea, KY  40403
Phone: 859-986-0868
Fax:   859-986-2695
E-mail: kefcrowe@acs.eku.edu

Fernando Cuevas
Vice President
Farm Labor Organizing Committee
326 East Maple Street
Winter Garden, FL  34787
Phone: 407-877-2949
Fax:   407-877-0031
E-mail: flocflorida@aol.com

Daisy Kathleen  Curry
Regional Superfund Ombudsman
Waste Management Division
Region 4
US Environmental Protection Agency
61 Forsyth Street SW 10th Floor
Atlanta, GA 30303-8909
Phone: 404-562-8660
Fax:   404-562-8566
E-mail: curry.kathleen@epa.gov
                                                                                                      Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Pages
 Lawrence Dark
 Columbia Willamette Area Health Education
 Center
 19365 SW 65th Avenue Suite 204
 Tualatin, OR 97062
 Phone:  503-318-5432
 Fax:    503-691-9588
 E-mail:  Idark@orednet.org

 Juan Davila
 Environmental Engineer
 Environmental Remedial & Response Division
 Region 2
 US Environmental Protection Agency
 290 Broadway
 New York, NY  10007-1866
 Phone:  212-637-4341
 Fax:    212-637-3256
 E-mail:  Not Provided
 Katharine Dawes
 Evaluation Support Division
 Office of Policy, Economies, and Innovation
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC1802)
Washington, DC 20460
Phone: 202-260-8394
Fax:   202-260-3125
E-mail: dawes.katherine@epa.gov
JoffDay
Ranger,  Natural Resources
Wampanoag Tribe of Gay Head Aquinnah
20 Black Brook Road
Gay Head, MA  02535-9701
Phone: 508-645-9265 ext. 161
Fax:   508-645-3790
E-mail: ranger@vineyard.net
Rebecca Dayries
Community Outreach Coordinator
Tulane Environmental Law Clinic
6329 Freret Street
New Orleans, LA 70118
Phone: 504-865-5787
Fax:   504-862-8721
E-mail: rdayries@law.tulane.edu
 Diane Dennis-Flagter
 Environmental Health Scientist
 Agency for Toxic Substances and Disease
 Registry
 31 Sutton Place
 Avondale Estates, GA 30002
 Phone: 404-286-8404
 Fax:   404-639-6207
 E-mail: dflagle@ibm.net

 Michael J DiBartolomeis
 Office of Environmental Health Hazard
 Assessment
 California Environmental Protection Agency
 1515  Clay Street 16th Floor
 Oakland, CA 94612
 Phone: 510-622-3164
 Fax:   510-622-3218
 E-mail: mdibarto@oehha.ca.gov

 Mildred Dix
 Volunteer Coordinator
 SWEDCO
 2298  Boulevard Granada SW
 Atlanta, GA 30311
 Phone: 404-753-5877
 Fax:   Not Provided
 E-mail: Not Provided

 Warren Dixon
 On-Site Coordinator
 Waste Division
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
Atlanta, GA 30303
 Phone: 404-562-8739
 Fax:   Not Provided
E-mail: dixon.warren@epa.gov

 Randy Dominy
 Florida Pesticides Project Officer
 Region 4
 US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303-8960
Phone: 404-562-8996
Fax:   404-562-8973
E-mail: dominy.randy@epa.gov
 Kevin Donovan
 Corrective Action Programs Branch
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 5303W)
 Washington, DC  20460
 Phone:  703-308-8761
 Fax:    703-308-8638
 E-mail:  donovan.kevin-e@epa.gov

 Katherine R. Dougan
 The Anniston Star
 216 West 10th Street
 Anniston, AL 36201
 Phone:  256-235-9291
 Fax:    256-235-3535
 E-mail:  news@annistonstar.com

 Melinda Downing
 Office of Intergovernmental & Public
 Accountability
 US Department of Energy
 1000 Independence Avenue SW Room 1H-087
 Washington, DC 20585
 Phone:  202-586-7703
 Fax:    202-586-0293
 E-mail:  meiinda.downing@em.doe.gov

 Phyllis Dozier
 Program Analyst
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 2732A)
Washington, DC 20460
Phone:  202-564-2166
Fax:    202-564-1843
E-mail:  dozier.phyllis@epa.gov

Diane M Drew
Agency for Toxic Substances and Disease
Registry
 1600 Clifton Road NE (MS E33)
Atlanta, GA 30333
Phone: 404-639-6338
Fax:   404-639-6207
E-mail: ddrew@cdc.gov

Delbert DuBois
Four Mile Hibernian Community Association
Inc
2025 Four Mile Lane
Charleston, SC  29405
Phone: 843-607-3319
Fax:   Not Provided
E-mail: Not Provided
                                                                                                     Final:  September 12, 2000

-------
May 2000 NEJAC Meeting
List of Attendees
PageS
Dianne Dugas
Assistant Chief Epidemiologist
Louisana Department of Health and Hospitials
234 Loyola Avenue Suite 620
New Orleans, LA 70112
Phone: 504-568-8537
Fax:   504-568-7035
E-mail: ddugas@dhh.state.la

Elizabeth Duncan
Attorney
Private Citizen
PO Box 70524
Washington, DC 20024
Phone: 202-547-3568
Fax:   Not Provided
E-mail: Not Provided

John Duncan, Jr
Professor of Law
Texas Wesleyan University Law School
1515 Commerce Street
Ft Worth, TX 75014
Phone: 817-212-3908
Fax:   Not Provided
E-mail: Not Provided

Lionel A Dyson
Public Interest Law Center of Philadelphia
125 South 9th Street No 700
Philadelphia, PA 19107
Phone: 215-627-7100
Fax:   215-627-3183
E-mail: pubint@aol.com

Veronica Eady, Esq
Executive Office of Environmental Affairs
Commonwealth of Massachusetts
100 Cambridge Street, 20th Floor
Boston, MA 02202
Phone: 617-626-1053
Fax:   617-626-1180
E-mail: veronica.eady@.state.ma.us

Louis Eby
Attorney-Advisor
Permits Division
Office of Wastewater Management
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 4203)
Washington, DC 20460
Phone: 202-260-6599
Fax:   202-260-1460
E-mail: eby.louis@epa.gov
Jeannie Economos
Farm Worker Association of Florida
815 South Park Avenue
Apopka, FL 32703
Phone: 407-886-5151
Fax:   407-884-6644
E-mail: Not Provided

Carl Edlund
Planning and Permitting Division
Region 6
US Environmental Protection Agency
1445 Ross Avenue Suite 1200
Dallas, TX 75202-2733
Phone: 214-665-7200
Fax:   214-665-6660
E-mail: edlund.cari@epa.gov

Chebryll C Edwards
Environmental Engineer/EJ Coordinator
Office of Air and Radiation
Region 4
US Environmental Protection Agency
MD-13
Research Triangle Park, NC 27711
Phone: 919-541-5428
Fax:   919-541-3470
E-mail: edwards.chebryll@epa.gov

Dale B Edwards
Supervisor, Community Resources Unit
Environmental Protection Office
Energy Facilities' Siting and Environmental
Protection Division
California Energy Commission
1516 9th Street (MS 40)
Sacramento, CA 95814-5512
Phone: 916-654-5139
Fax:   916-654-3882
E-mail: dedwards@energy.state.ca.us

Natalie Ellington
Water Management Division
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9453
Fax:   404-562-9439
E-mail: ellington.natalie@epa.gov
Noemi Emeric
Regional Team Manager
Region 5
US Environmental Protection Agency
77 West Jackson Boulevard (T-19J)
Chicago, IL 60604
Phone: 312-886-0995
Fax:   312-353-1155
E-mail: emeric.noemi@epa.gov

Thelma Epps
Member
North Baton Rouge Environmental Association
13343 Abraham Drive
Baton Rouge, LA
Phone: 225-774-8516
Fax:   Not Provided
E-mail: Not Provided

Serdar Ertep
Environmental Scientist
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9683
Fax:   404-562-9895
E-mail: ertep.serdar@epa.gov

Elisabeth Evans
Director
Environmental Justice Program
Region 8
US Environmental Protection Agency
999 18th Street Suite 500
Denver, CO 80202-2466
Phone: 303-312-6053
Fax:   303-312-6409
E-mail: evans.elisabeth@epa.gov

Samantha Fairchild
Director
Office of Enforcement, Compliance, and
Environmental Justice
Region 3
US Environmental Protection Agency
1650 Arch Street
Philadelphia, PA
Phone: 215-814-2627
Fax:   Not Provided
E-mail: fairchild.samantha@epa.gov
                                                                                                       Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 10
 Homy Falk
 Assistant Administrator
 Agency for Toxic Substances and Disease
 Registry
 1600 Clifton Road NE
 Atlanta, GA 30333
 Phone: 404-639-0700
 Fax;    404-639-0744
 E-mail: hxf1@cdc.gov

 Ronald Fannin
 Realty Specialist
 US Department of Transportation
 400 7th Street SW
 Washington, DC  20590
 Phone: 202-366-2042
 Fax:    202-366-3713
 E-maH: ronald.fannin@fhwa.dot.gov
 Charles Faultry
 Section Chief, Information Management
 Region 6
 US Environmental Protection Agency
 1445 Ross Avenue Suite 1200
 Dallas, TX  75202-2733
 Phone: 214-665-6750
 Fax:    214-665-6762
 E-mail:  cfaultry@epa.gov
 Denise Feiber
 Environmental Science & Engineering Inc
 404 SW 140th Terrace
 Newberry, FL 32669-3000
 Phone:  352-333-2605
 Fax:    352-333-6633
 E-mail:  ddfeiber@esemail.com

 Dorothy Felix
 Vice President
 Mossvilte Environmental Action Now (MEAN)
 Inc
 PO Box 891
 Sulphur, LA 70663
 Phone: 337-882-8078
 Fax:   337-882-7476
 E-mail: focusonmossville@aol.com

Allyson Fertitta
 Harris Deville and Assoc
 307 France Street
 Baton Rouge, LA  70802
Phone: 225-344-0381
Fax.'   225-336-0211
E-mail: afertitta@hdaissues.com
 Nigel Fields
 Environmental Health Scientist
.Office of Research and Development
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 8723E)
Washington, DC 20460
Phone: 202-564-6936
Fax:    202-565-2448
E-mail: fields.negel@epa.gov

Sherri Fields
Chief, Accountability Management Branch
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA  30331
Phone:  404-562-9684
Fax:    Not Provided
E-mail:  fields.sherri@epa.gov

Timothy Fields Jr
Assistant Administrator
Office of Solid Waste and Emergency
Response
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 5101)
Washington, DC 20460
Phone:  202-260-4610
Fax:    202-260-3527
E-mail:  fields.timothy@epa.gov

Willa A Fisher
Director of Health
Bremerton-Kitsap County Health District
National Association of County and City
Health Officials
109 Austin Drive
Bremerton, WA  98312
Phone:  360-337-5235
Fax:    360-337-5298
E-mail: fishew@health.co.kitsap.wa.us

Mariya Fishman
Department of Environmental and
Occupational Health
Rollins School of Public Health
Emory University
1518 Clifton Road NE
Atlanta, GA 30322
Phone: 404-727-3697
Fax:   404-727-8744
E-mail: mfishman@learnlink.emory.edu
 Edward Flynn
 Director, Health and Safety Affairs
 Louisana Chemical Association
 One American Place Suite 2040
 Baton Rouge, LA 70825
 Phone: 225-344-2609
 Fax:   225-343-1007
 E-mail: ed@lca.org

 Catherine Fox
 Environmental Accountability Division
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, GA 30303
 Phone: 404-562-9634
 Fax:   404-562-9598
 E-mail: fox.catherine@epa.gov

 Dorothy Fox, PhD
 Grants Consultant
 College of Nursing
 Wayne State University
 5777 Coss Avenue
 Detroit, Ml 48202
 Phone: 734-459-5226
 Fax:   Not Provided
 E-mail: foxfile5@hotmail.com

 Nan Freeland
 NCSY
 Natural Resources Leadership Institute
 PO Box 8109
 Raleigh, NC 27695-8109
 Phone: 919-515-6090
 Fax:   919-515-1824
 E-mail: nan_freeland@nesu.edu

Alfreda Freeman
Chief, Toxic Substance Section
 Region 4
 US Environmental Protection Agency
61 Forsyth Street  SW
Atlanta, GA 30303
Phone: 404-562-8977
Fax:   404-568-8973
E-mail: freemana@epa.gov
                                                                                                      Final: September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page 11
Lara Freeman
Emory University
PO Box 22050
Atlanta, GA 30322
Phone: 404-315-6959
Fax:   Not Provided
E-mail: Ifree02@emory.edu

Omar Freilla
Transportation Coordinator  >
New York City Environmental Justice Alliance
115 West 30th Street Room 709
New York, NY 10001
Phone: 212-239-8882
Fax:   212-239-2838
E-mail: transportation@nyceja.org

James Friloux
Ombudsman
Louisiana Department of Environmental Quality
PO Box 82263
Baton Rouge,  LA 70884
Phone: 225-765-0735
Fax:   225-765-0746
E-mail: jim_f@deq.state.la.us

Jan Marie Fritz
School of Planning
University of Cincinnati
7300 Aracoma Forest Drive
Cincinnati, OH 45237
Phone: 513-556-0208
Fax:   513-556-1274
E-mail: jan.fritz@uc.edu

Karl Fuller
Pechanga Environmental Program
PO Box 1477
Temecula, CA 92593
Phone: 909-506-1578
Fax:   909-695-1778
E-mail: kfuller@pechanga.org

Arnita Gadson
Environmental Justice Project Manager
University of Louisville
West Co Environmental Task Force
2900 West Broadway
Louisville, KY  40211
Phone: 502-852-4609
Fax:   502-852-1610
E-mail: ahgads01@gwise.lou.edu
Neftali Garcia-Martinez
Environmental Scientist
Scientific and Technical Services
RR-9 Buzon 1722
San Juan, PR 00918
Phone: 787-292-0620
Fax:   787-760-0496
E-mail: sctinc@coqui.net

Linda Garczynski
Director
Outreach and Special Projects Staff
Office of Solid Waste and Emergency
Response
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 5105)
Washington, DC 20460
Phone: 202-260-1223
Fax:   202-260-6606
E-mail: garczynski.Iinda@epa.gov

Wayne Garfinkel
Environmental Engineer
Air, Pesticides, & Toxics Management Division
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303-3104
Phone: 404-562-8982
Fax:   404-562-8972
E-mail: garfinkel.wayne@epa.gov

Gwendolyn Gaston
CARAT Team
Coalition of Black Trade Unionists
United Auto Workers
11496 Irene
Warren, U.S. 48093
Phone: 810-558-9513
Fax:   810-558-9513
E-mail: Not Provided

Eileen Gauna
Professor of Law
Southwestern University School of Law
675 South Westmoreland Avenue
Los Angeles, CA 90005
Phone: 213-738-6752
Fax:   213-383-1688
E-mail: egauna@swlaw.edu
Dora Gauntt
Treasurer
Ashurst Bar / Smith Community Organization
665 Washington Boulevard
Tallassee,AL 36078
Phone: 334-283-3525
Fax:   Not Provided
E-mail: Not Provided

Gail Gauntt
Secretary
Ashurst Bar/ Smith Community Organization
1009 B Fitzpatrick Avenue
Opelika.AL 36801
Phone: 334-745-4073
Fax:   Not Provided
E-mail: gauntgd@auburn.edu

Clarice Gaylord
Special Assistant to the Regional Administrator
San Diego Border Liaison Office
Region 9
US Environmental Protection Agency
610 West Ash Street
San Diego, CA 92101
Phone: 619-235-4767
Fax:   619-235-4771
E-mail: gaylord.clarice@epa.gov

Michel Gelobter
Graduate Department of Public Administration
Rutgers University
360 Martin Luther King Boulevard 7th Floor
Newark, NJ 07102
Phone: 209-353-5093 ext. 18
Fax:   209-927-4574
E-mail: gelobter@andromeda.rutgers.edu

Felicia Davis Gilmore
Georgia AirKeepers Campaign Director
Ozone Action
1447 Peachtree Street Suite 806
Atlanta, GA 30309
Phone: 404-872-3660
Fax:   404-872-3460
E-mail: airkeeper@airkeeper.org
                                                                                                      Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 12
 Daniel Gogal
 Office of Environmental Justice
 Office of Enforcement and Compliance
 Assurance
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 2201A)
 Washington. DC 20460
 Phone:  202-564-2576
 Fax:    202-501-0740
 E-mail:  gogal.danny@epa.gov

 Rence Coins
 Environmental Protection Specialist
 Office of Environmental Justice
 Office of Enforcement and Compliance
 Assurance
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 2201A)
 Washington, DC 20460
 Phone:  202-564-2598
 Fax:    202-501-0740
 E-mail:  goins.renee@epa.gov

 Rhonda Golder
 Office of Enforcement and Compliance
Assurance
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 2222A)
Washington. DC 20460
Phone:  202-564-5088
Fax:    202-501-0411
E-mail:  golder.rhonda@epa.gov

Tom Goldtooth
Indigenous Environmental Network
PO Box  485
Bemidji.  MN 56619-0485
Phone:  218-751-4967
Fax:    218-751-0561
E-mail:  ien@igc.org

Storting R Gologergen
POPs Organizer for Alaska
Alaska Community Action on Toxics
Indigenous Environmental Network
12341 Lake Street
Eagle River, AK 99577
Phone:  907-222-7714
Fax:    907-222-7715
E-mail:  sterling@akaction.net
 Sheryl Good
 Environmental Scientist
 Environmental Justice/Community Liaison
 Program
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, GA 30303-8960
 Phone:  404-562-9559
 Fax:    404-562-9664   •
 E-mail:  good.sheryl@epa.gov

 Ann Goode
 Director
 Office of Civil Rights
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 1201)
 Washington, DC 20460
 Phone:  202-564-7272
 Fax:    Not Provided
 E-mail:  goode.ann@epa.gov

 Paula Goode
 Associate Office Director
 Office of Children's Health Protection
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 1107)
 Washington, DC 20460
 Phone:  Not Provided
 Fax:    Not Provided
 E-mail:  goode.paula@epa.gov

 J Scott Gordon
 Chief, Water Programs Enforcement Branch
 Water Management Division
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
Atlanta, GA 30303-8960
 Phone: 404-562-9741
 Fax:   404-562-9729
 E-mail: gordon.scott@epa.gov

 Richard Gragg
Assistant Professor
 Center for Environmental Equity and Justice
 Environmental Sciences Institute
 Florida A & M University
Tallahassee, FL  32307
Phone: 850-599-8549
Fax:   850-599-2248
E-mail: richard.graggiii@famu.edu
Wendy Graham
Office of International Activities
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 261 OR)
Washington, DC  20460
Phone: 202-564-6602
Fax:   202-565-2407
E-mail: graham.wendy@epa.gov

Dennis Grams
Regional Administrator
Region 7  •
US Environmental Protection Agency
901 North 5th Street
Kansas City, KS 66101
Phone: 913-551-7006
Fax:   913-551-7976
E-mail: Not Provided

Dina Granado
Program Analyst
Region 6
US Environmental Protection Agency
1445 Ross Avenue
Dallas, TX 75201-2733
Phone: 214-665-6522
Fax:   214-665-7373
E-mail: Not Provided

Gary Grant
Concerned Citizens of Tillery
PO Box 61
8000 Highway 561
Tillery,  NC 27887
Phone: 252-826-3017
Fax:   252-826-3244
E-mail: tillery@aol.com

Running Grass
Environmental Justice Specialist
Region 9
US Environmental Protection Agency
75 Hawthorne Street
San Francisco, CA 94105
Phone: 415-744-1205
Fax:   415-538-5062
E-mail: grass.running@epa.gov
                                                                                                      Final: September 12, 2000

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 May 2000 NEJAC Meeting
 List of Attendees
 Page 13
Shirley Gray
District Sales Manager
Family Life Insurance Company
565 Irby Street
Woodruff, SC 29388
Phone: 864-476-6071
Fax:   Not Provided
E-mail: Not Provided

Gregory A. Green
Office of Air and Radiation
Region 5
US Environmental Protection Agency
2000 Traver Wood Drive
Ann Arbor, MI 48105
Phone: 734-214-4488
Fax:   734-214-4053
E-mail: green.gregory@epa.gov

Richard Green
Director
Waste Management Division
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303-8960
Phone: 404-562-8651
Fax:   404-562-8063
E-mail: green.dick@epa.gov

Frankee Greenberg
Director of Regional Operations
Office of the Administrator
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 1108A)
Washington,  DC 20460
Phone: 202-564-3100
Fax:   202-501-0062
E-mail: greenberg.frankee@epa.gov

Donna Gross
Laborers-AGC Education and Training Fund
,U.S.
Phone: Not Provided
Fax:   Not Provided
E-mail: Not Provided

George Hagevik
National Conference of State Legislatures
1560 Broadway Suite 700
Denver, CO  80202
Phone: 303-830-2200
Fax:   303-863-8003
E-mail: george.hagevik@ncsl.org
Beth Hailstock
Director
Environmental Justice Center
Cincinnati Department of Health
3101 Burnet Avenue
Cincinnati, OH 45229
Phone: 513-357-7206
Fax:   513-357-7262
E-mail: bethhailstock@chdbumrcc.org

Loren Hall
Office of Civil Rights
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 1201A)
Washington, DC 20460
Phone: 202-564-7289
Fax:   202-501-1836
E-mail: hall.loren@epa.gov

Martin Halper
Senior Science Advisor
Office of Environmental Justice
Office of Enforcement and Compliance
Assurance
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2201A)
Washington, DC 20460
Phone: 202-564-2601
Fax:   202-501-0740
E-mail: halper.martin@epa.gov

Brad Hamilton
Director
Kansas Native American Affairs Office
1430 SWTopeka Boulevard
Topeka, KS 66612-1853
Phone: 785-368-7319
Fax:   785-296-1795
E-mail: bbhamilt@hr.state.ks.us

Walter Handy
Cincinnati Department of Health
3101 Bumet Avenue
Cincinnati, OH 45229
Phone: 513-357-7271
Fax:   513-357-7290
E-mail: walter.handy@chdburn.rcc.org
John Hankinson
Regional Administrator
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone:  404-562-8357
Fax:    Not Provided
E-mail:  hankinson.john.jr@epa.gov

Monique Harden
Attorney/Community Liaison Director
Earthjustice Legal Defense Fund
100 Magazine Street Suite 401
New Orleans, LA 70130-2453
Phone:  504-522-1394
Fax:    504-566-7242
E-mail:  mharden@earthjustice.org

Clarence Hardy
Director
Office of Cooperative Environmental
Management
Office of the Administrator
US Environmental Protection Agency
499 South Capital Street SW
Room 111, Fairchild Building
Washington, DC 20460
Phone:  202-260-3303
Fax:    Not Provided
E-mail:  hardy.darence@epa.gov

William Harriett
Acting Director
Office of Air and Radiation
Region 4
US Environmental Protection Agency
MD-12
Research Triangle Park, NC  27711
Phone:  919-541-4979
Fax:    919-541-4028
E-mail:  hamett.bill@epa.gov

Jewell Harper
Deputy Director
Waste Management Division
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta,  GA 30303-8960
Phone:  404-562-8651
Fax:    404-562-8063
E-mail:  harper.jewell@epa.gov
                                                                                                      Final: September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page 14
Sara J Harper
Citizens For Environmental Justice
13807 Drexmore Road
Cleveland, OH
Phone: 216-991-9122
Fax:   216-991-6068
E-mail: Not Provided

Ronnie Harrington
Manager Environmental Justice Program
Region 1
US Environmental Protection Agency
One Congress Street 10lh Floor
Boston. MA 02203-0001
Phone: 617-918-1703
Fax:   617-565-3415
E-mail: harrington.veronica@epa.gov

Alisa Harris
Pennsylvania Department of Environmental
Protection
400 Market Street
Harrisburg. PA 17105
Phone: 717-783-9731
Fax:   717-783-8926
E-mail: ham's.alisa@dep.state.pa.us

John  Harris
Senior Advisor for Economics
Office of Emergency and Remedial Response
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 5204G)
Washington, DC 20460
Phone: 703-603-9075
Fax:   703-603-9104
E-mail: harris.john@epa.gov

Phyllis Harris
Regional Counsel
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303-8960
Phone: 404-696-5987
Fax:   Not Provided
E-mail: harris.phyllis@epa.gov

Rita Harris
Environmental Justice Organizer
Community Living in Peace Inc/Sierra Club
1373 South Avenue
Memphis, TN  38106
Phone: 901-948-6002
Fax:   901-948-6002
E-mail: xundu@usa.net
Pat Hartman
Concerned Citizens of Mossville LA
3780 Old Spanish Trail
Westlake, LA 70669
Phone: 337-882-5126
Fax:   Not Provided
E-mail: Not Provided

Melinda M M Haulbrook, MPH
Department of Environmental and
Occupational Health
Rollins School of Public Health
Emory University
1518 Clifton Road NE
Atlanta, GA 30322
Phone: 404-727-4620
Fax:   404-727-8744
E-mail: mhaulbr@sph.emory.edu

Neeka Hayes
Jeter Communications
2451 Cumberland Parkway Suite 3428
Atlanta, GA 30339
Phone: 404-350-0033
Fax:   404-603-9770
E-mail: jeterpro@aol.com

Alan Hecht
Principal Deputy Assistant Administrator
Office of International Activities
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2670R)
Washington,  DC 20460
Phone: 202-564-6600
Fax:   Not Provided
E-mail: hect.alan@epa.gov

Maria Hendriksson
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 361OA)
Washington,  DC 20460
Phone: 202-564-1897
Fax:   202-564-4962
E-mail: hendriksson.marla@epa.gov
Jody Henneke
Director
Office of Public Asistance
Texas Natural Resource Conservation
Commission
State of Texas
PO Box 13087 (MC 108)
Austin, TX 73087
Phone:  512-239-4085
Fax:    512-239-4007
E-mail: jhenneke@tnrcc.state.tx.us.com

Grace L Hewell
President and CEO
Health Policy Group
807 West 40th Street
Chattanooga, TN  37410
Phone: 423-821-7286
Fax:   423-267-7696
E-mail:  Not Provided

Amahra Hicks
Regional Manager
Forest Service
US Department of Agriculture
1323 Club Drive
Vallejo, CA  94512
Phone: 707-562-8751
Fax:   707-562-9044
E-mail:  ahicks@fs.us

Ivie Higgins
Coalition for Environmentally Responsible
Economies
11 Arlington Street 6th Floor
Boston, MA 02116
Phone: 617-247-0700
Fax:   617-267-5400
E-mail: higgins@ceres.org

Barry Hill
Director
Office of Environmental Justice
Office of Enforcement and Compliance
Assurance
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2201A)
Washington, DC  22460
Phone: 202-564-2515
Fax:   202-501-0740
E-mail:  hill.barry@epa.gov
                                                                                                      Final: September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page 15
James B Hill, Jr
Chairman
Scarboro Community Environmental Justice
Council
233 Tusculum Drive
Oak Ridge, TN 37830
Phone: 865-481-0027
Fax:   865-481-0027
E-mail: hillboy@icx.net

Kimberly J Hill
St. Louis Liaison
St. Louis Field Office
Region 7
US Environmental Protection Agency
10805 Sunset Office Drive Sute 100
St. Louis, MO 63127
Phone: 314-821-2630
Fax:   314-821-0821
E-mail: hill.kimberly@epa.gov

Sandra Jaribu Hill
Director
Southern  Regional Office
Center for Constitutional Rights
213 Main Street
PO Box 428
Greenville, MS 38702-0428
Phone: 662-334-1122
Fax:   662-334-1274
E-mail: jaribuhill@hotmail.com

Jennifer Hill-Kelley
Environmental Quality Director
Environmental Health & Safety Program
Oneida Nation of Wisconsin
3759 West Mason Street
Oneida, Wl 54155
Phone: 414-497-5812
Fax:   414-496-7883
E-mail: jhillkel@oneidanation.org

Melvin "Kip" Holden
Representative
Louisiana Legislature
838 North Boulevard
Baton Rouge, LA 70802
Phone: 225-346-0406
Fax:   225-346^788
E-mail: Not Provided
Ryan Holifield
Department of Geography
University of Georgia
145 Cole Manor Drive
Athens, GA 30606
Phone: 706-549-5558
Fax:   Not Provided
E-mail: rholifi@hotmail.com

Adrienne Hollis, PhD
Assistant Professor
Florida A & M University
Science Research Center Room 207C
Tallahassee, FL 32307
Phone: 850-599-8840
Fax:   850-599-8830
E-mail: ahollis2@famu.edu

Robert Holmes
Director
Southern Center for Studies in Public Policy
Clark Atlanta University
James P Brawley Drive at Fair Street SW
Atlanta, GA 30314
Phone: 404-880-8089
Fax:   404-880-8090
E-mail: bholmes@cau.edu

Brian Holtzclaw
Environmental Justice Waste Management
Division
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-8684
Fax:   404-562-8628
E-mail: holtzclaw.brian@epa.gov

Kevin Hood
Environmental Research Institute
University of Connecticut
270 Middle Turnpike
Storrs, CT 06269
Phone: 860-486-4015
Fax:   860-486-2283
E-mail: khood@eri.uconn.edu
Jane Horton
Worker Protection Standards Coordinator
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303-8960
Phone: Not Provided
Fax:   Not Provided
E-mail: horton.jane@epa.gov

Michelle R. Hudson
Office of Intergovernmental  and Public
Accountability
US Department of Energy
1000 Independence Avenue SW Room 1H-
088-45
Washington, DC 20585
Phone: 202-586-7739
Fax:   202-586-0293
E-mail: michelle.hudson-mann@em.doe.gov

Sundiata ibn Hyman, PhD
Deep South Center for Environmental Justice
Xavier University
PO Box 45
7325 Palmetto Street
New Orleans, LA 70125
Phone: 504-488-3075
Fax:   504-488-3081
E-mail: sundiata@bellsouth.net

Myra Rutherdale Immings
Community Planner
Federal Transit Administration
US Department of Transportation
61 Forsyth Street SW Suite 17T50
Atlanta, GA 30303
Phone: 404-562-3508
Fax:   404-562-3505
E-mail: myra.immings@fta.dot.gov

Hilary I. Inyang
Center for Environmental Engineering Science
and Technology
University of Massachusetts Lowell
One University Avenue NoE-114
Lowell, MA 01854
Phone: 978-934-2285
Fax:   978-934-3092
E-mail: hilary-inyang@uml.edu
                                                                                                       Final: September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page 16
Blanche Irvin
Volunteer Coordinator
SWEDCO
2295 Boulevard Granada SW
Atlanta, GA 30311
Phone: 404-753-7236
Fax:    Not Provided
E-mail: Not Provided

Janice Jablonski
Office of Environmental Information
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2812A)
Washington. DC 20460
Phone: 202-564-6663
Fax:    202-501-1627
E-mail: Not Provided

Rhea Jack
US Department of Agriculture
PO Box 2890
Washington, DC 20013
Phone: 202-720-0768
Fax:    202-720-2588
E-mail: rjack@usda.gov

Rose Jackson
Public Affairs Specialist
Waste  Management Division
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta. GA 30303
Phone: 404-562-8602
Fax:   404-562-8655
E-mail: jackson.rose@epa.gov

Sarah James
Tribal Member
Council of Aphabascan Tribal Governments
PO Box 51
Artie Village, AK 99722
Phone: 907-587-5315
Fax:   907-587-5900
E-mail: Not Provided

Annabclle E Jaramillo
Citizens' Representative
Oregon Office of the Governor
160 State Capitol
Salem, OR 97310
Phone: 503-378-5116
Fax:   503-378-6827
E-mail: annabelle.e.jaramillo@state.or.us
Bonita Johnson
Environmental Scientist
Water Management Division
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303-8960
Phone: 404-562-9442
Fax:   404-562-9439
E-mail: johnson.bonita@epa.gov

Glenda Johnson
Senior Budget Analyst
Johnson Space Center
National Air and Space Administration
1806 Oakridge Drive
Kemah.TX 77565
Phone: 281-483-0377
Fax:   Not Provided
E-mail: Not Provided

Hazel Johnson
Chief Executive Officer
People for Community Recovery
13116 South Ellis Avenue
Chicago, IL 60627
Phone: 773-468-1645
Fax:   773-468-8105
E-mail: Not Provided

Jadine Johnson
Student
Chamblee High School
5478 Hunters Cove
Lithonia, GA 30038
Phone: 770-981-1014
Fax:   Not Provided
E-mail: jadine@hotmail.com

Jonetta Johnson
Student
Southwest Dekalb High School
5478 Hunters Cove
Lithonia, GA 30038
Phone: 770-981-1014
Fax:   Not Provided
E-mail: jonettaswd@aol.com
Sabrina Johnson
Policy Analyst
Office of Air and Radiation
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 6103A)
Washington, DC 20460
Phone: 202-564-1173
Fax:   202-564-1554
E-mail: johnson.sabrina@epa.gov

Manuel Joia
Environmental Division
Marine Corps Logistics Base Barstow
Box 110500
Barstow, CA 92311-5013
Phone: 760-577-6574
Fax:   760-577-6256
E-mail: joiam@barstow.usmc.mil

Constance Jones
Environmental Scientist
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-8551
Fax:   404-562-8518
E-mail: jones.constance@epa.gov

Teresa Juarez
New Mexico Alliance
PO Box 759
Chimayo, NM  87522
Phone: 505-351-2404
Fax:   505-351-1031
E-mail: tjuarez@la-tierra.com

Kurt Karperos
California Air Resources Board
PO Box 2815
2020 L Street
Sacramento, CA 95833
Phone: 916-322-2893
Fax:   Not Provided
E-mail: kkarpero@arb.ca.gov
                                                                                                     Final: September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page 17
Mark S Kasman
Senior International Information Officer
Office of International Activities
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (Me 2670R)
Washington, DC 20460
Phone: 202-564-6112
Fax:   202-565-2411
E-mail: kasman.mark@epa.gov

Kevin Keaney
Acting Chief
Certification and Worker Protection Branch
Office of Prevention Pesticides and Toxic
Substances
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 7506C)
Washington, DC 20460
Phone: 703-305-7666
Fax:   703-308-2962
E-mail: keaney.kevin@epa.gov

Colleen Kelley
Department of Environmental and
Occupational Health
Rollins School of Public Health
Emory  University
1518 Clifton Road NE
Atlanta, GA 30322
Phone: 404-727-3697
Fax:   404-727-8744
E-mail: cfkelle@learnlink.emory.edu

Dorothy Kellogg
Chemical Manufacturers Association
1300 Wilson Boulevard
Arlington, VA 22209
Phone: 703-741-5236
Fax:   703-741-6236
E-mail: dorothy_kellogg@cmahq.com

Joyce Kelly
Office for Civil Rights and Environmental
Justice
Region 10
US Environmental Protection Agency
1200 6th Avenue  (CEJ 163)
Seattle, WA 98101
Phone: 206-553-4029
Fax:   206-553-7176
E-mail: kelly.joyce@epa.gov
Jeff Keohane
Attorney Advisor
Office of General Counsel
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2322A)
Washington, DC 20460
Phone: 202-564-5548
Fax:   202-260-5541
E-mail: keohane.jeffrey@epa.gov

Jon F. Kerner
Assistant Deputy Director
Division of Cancer Control and Population
Sciences
National Cancer Institute
National Institutes of Health
6130 Executive Boulevard EPN 241-C
Rockville, MD 20893
Phone: 301-594-7294
Fax:   301-594-6787
E-mail: jon.kemer@nih.gov

Charlotte L Keys
Executive Director
Jesus People Against Pollution
PO Box 765
202 Virginia Avenue
Columbia, MS 39429
Phone: 601-736-0686
Fax:   601-736-7811
E-mail: Not Provided

Derrick Kimbrough
Community Involvement Coordinator
Office of Public Affairs
Region 5
US Environmental Protection Agency
77 West Jackson Boulevard (P-19J)
Chicago, IL 60604
Phone: 312-886-9749
Fax:  -312-353-1155
E-mail: kimbrough.derrick@epa.gov

Deborah E. King
DEBLAR & Associates Inc
3129NorthplaceWay
Smyrna, GA  30080
Phone: 770-438-6953
Fax:   770-438-8577
E-mail: debking22@hotmail.com
Marva E King
Office of Environmental Justice
Office of Enforcement and Compliance
Assurance
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2201A)
Washington, DC  20460
Phone: 202-564-2599
Fax:    202-501-0740
E-mail: king.marva@epa.gov

Vereda King
Region 4
US Environmental Protection Agency
39 Park Village Lane
Greensboro, NC  27455
Phone: 336-334-7188 ext. 2008
Fax:    336-334-7093
E-mail: vkncatc@aol.com

Patrick Kinney
Associate Professor
Division of Environmental Health Sciences
Columbia University School of Public Health
60 Haven Avenue B1
New York City, NY 10032
Phone: 212-305-3663
Fax:    212-305-4012
E-mail:  plk3@columbia.edu

Rufus Kinney
Member
Community Against Pollution
806 12th Avenue  NE
Jacksonville, AL 36265
Phone:  256-435-4743
Fax:    Not Provided
E-mail:  rkinney@jsucc.jsu.edu

Monica Kirk
Special Counsel to the Regional Administrator
Office of Oregon Operations
Region 10
US Environmental Protection Agency
811 SW 16th Avenue 3rd Floor
Portland, OR  97204
Phone:  503-326-3269
Fax:    503-326-3399
E-mail:  kirk.monica@epa.gov
                                                                                                      Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 18
 Tera Kirk
 3863 Memorial Drive
 Apartment #1508
 Decatur, GA 30032
 Phone: 404-286-1380
 Fax:   Not Provided
 E-mail: tkirirt@netscape.net

 Mosi Kitwana
 Director
 Research and Development
 International City/County Management
 Association
 777 North Capitol Street NE Suite 500
 Washington, DC 20002-4201
 Phone: 202-962-3649
 Fax:   202-962-3605
 E-mail: mkitwana@icma.org

 MIchole L Knorr
 Office of General Counsel
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 2333A)
 Washington, DC 20460
 Phone: 202-564-5631
 Fax:    202-564-5644
 E-mail: knorr.michele@epa.gov

 Albert Korgi
 International Activities Coordinator
 Office of Policy Management
 Region 4
 US Environmental Protection Agency •
 61 Forsyth Street SW
Atlanta, GA 30303-8960
Phone: 404-562-8283
Fax:    404-562-8269
E-mail:  korgi.al@epa.gov
Andrea Kreiner
Delaware Department of Natural Resources
and Environmental Control
89 Kings Highway
Dover,  DE 19901
Phone:  302-739-4403
Fax.1    302-739-6242
E-mail:  akreiner@.state..de.us
 Edith Ladipo
 Executive Director
 Southwest Economic Development Corporation
 PO Box 44732
 Atlanta, GA  30311
 Phone: 404-755-4894
 Fax:    Not Provided
 E-mail: edfth@bellsouth.net

 Jackie Lane
 Community Involvement Coordinator
 Region 9
 US Environmental Protection Agency
 75 Hawthorne Street
 San Francisco, CA 94105
 Phone: 415-744-2267
 Fax:    415-744-1796
 E-mail: lane.jackie@epa.gov

 Leigh Blackman Lane
 North Carolina Department of Transportation
 PO Box 25201
 1 South Wilmington Street
 Raleigh, NC  27611
 Phone: 919-733-7844 ext. 260
 Fax:    919-733-9794
 E-mail:  llane@dot.state.nc.us

 Mary  Lauterbach
 Office of Prevention Pesticides and Toxic
 Substances
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 7408)
Washington,  DC 20460
Phone: 202-260-9563
Fax:   202-260-1847
E-mail: lauterbach.mary@epa.gov

Adora Iris Lee
Minister for Environmental Justice
United Church of Christ
5113 Georgia Avenue NW'
Washington,  DC 20011
Phone: 202-291-1593
Fax:   202-291-3933
E-mail: adoracrj@aol.com
 Charles Lee
 Associate Director
 Office of Environmental Justice
 Office of Enforcement and Compliance
 Assurance
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 2201A)
 Washington, DC  20460
 Phone:  202-564-2597
 Fax:    202-501-0740
 E-mail:  lee.charles@epa.gov

 Rebeca Lee-Pethel
 National Center for Environmental Health
 Centers for Disease Control and Prevention
 4770 Buford Highway NE (MS F-29)
 Atlanta, GA  30341-3727
 Phone: 770-488-7537
 Fax:   770-488-4178
 E-mail: rxl8@cdc.gov

 Carol Leftwich
 Project Manager
 Environmental Council of the States
 444 North Capitol Street NW Suite 445
 Washington, DC 20001
 Phone: 202-624-3677
 Fax:   202-624-3666
 E-mail: leftwich@sso.org

 Richard Legree
 Laborer's District Council
 Philadelphia, PA
 Phone: Not Provided
 Fax:   Not Provided
 E-mail: Not Provided

 Ira Leighton
 Deputy Regional Administrator
 Region 1
 US Environmental Protection Agency
 One Congress Street Suite 1100
 Boston, MA 02114
Phone: 617-918-1011
Fax:   617-918-1029
E-mail: leighton.ira@epa.gov

 Michael Letourneau
Region 10
US Environmental Protection Agency
 1200 Sixth Avenue (CEJ-163)
Seattle, WA 98101
Phone: 206-553-1687
Fax:    206-553-7176
<=-ma/;- ietourneau.mike@epa.gov
                                                                                                      Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 19
Natalie Leverette
PEACE
PO Box 148
Richton, MS 39476
Phone: 601-788-6287
Fax:   601-268-3313
E-mail: Not Provided

Maria del Carmen Libran
Department of Horticulture
University of Puerto Rico at Mayaguez
GPO Box 5000 College Station
Mayaguez,  PR 00681-5000
Phone: 787-832-4040 ext. 2088
Fax:   787-265-0860
E-mail: mjibra@yahoo.com

Maureen Lichtveld, MD MPH
Associate Director for Workforce Development
Office of the Director
Public Health Practice Program Office
Centers for  Disease Control and Prevention
4770 Buford Highway (K-38)
Atlanta, GA 30341
Phone: 770-488-2480
Fax:   770-488-2574
E-mail: mal7@cdc.gov

Alrena Lightbourn
Environmental Toxicologist-Biologist
Region 4
US Environmental Protection Agency
61 Forsyth Street SW (9T25)
Atlanta, GA 30303-8960
Phone: 404-562-8646
Fax:   404-562-8566
E-mail: Not Provided

Benjamin Lim
EJ Coordinator
Office of Prevention Pesticides and Toxic
Substances
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 7404)
Washington, DC 20460
Phone: 202-260-1509
Fax:   202-260-3453
E-mail: lim.benjamin@epa.gov
 Fred Lincoln
 Chairman
 Wando Concern Citizen Committee
 133 Sarah Lincoln Road
 Wando, SC 29492
 Phone: Not Provided
 Fax:    Not Provided
 E-mail: pfkwanza@aol.com

 Charles Linville, PhD
 Assistant Professor
 Computer Science and Information Systems
 American University
 4400 Massachusetts Avenue NW
 Washington, DC 20016-8116
 Phone: 202-885-3138
 Fax:    202-885-1479
 E-mail: linvill@american.edu

 Usha Little
 Director
 Native  American Environmental Protection
 Coalition
 PO Box 2485
 Valley Center, CA  92082
 Phone: 760-751-8686
 Fax:   760-751-8685
 E-mail: naepc@primenet.com

 L Diane Long
 North Carolina Department of Environment
 and Natural Resources
 1601 Mail Service Center
 Raleigh, NC 27699-2601
 Phone: 919-715-4195
 Fax:   919-715-3060
 E-mail: dianelong@ncmail.net

 Chavel Lopez
 Southwest Public Workers Union
 PO Box 830706
 San Antonio, TX 78283
 Phone: 210-299-2666
 Fax:   Not Provided
 E-mail: Not Provided

 Gloria  Love
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
Atlanta, GA 30303
 Phone: 404-562-9672
 Fax:   404-562-9598
 E-mail: love.gloria@epa.gov
Sylvia Lowrance
Principal Deputy Assistant Administrator
Office of Enforcement and Compliance
Assurance
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2101 A)
Washington, DC 20460
Phone: 202-260-7960
Fax:    202-501-3842
E-mail: lowrance.sylvia@epa.gov

Maria Elena Lucas
Farm Worker and Organizer
5509 Twin Timbers
Arlington, TX 76018
Phone: 817-461-1669
Fax:    Not Provided
E-mail: Not Provided

Cesar  Luna
Policy Associate
Border Environmental  Justice Campaign
Environmental Health Coalition
1717 Kettner Building #100
San Diego, CA 92101
Phone: 619-235-0281
Fax:    619-232-3670
E-mail:  Not Provided

Bill Luthans
Multimedia Planning and Permitting Division
Region 6
US Environmental Protection Agency
1445 Ross Avenue Suite 1200 (6PD)
Dallas, TX 75202-2733
Phone: 214-665-7200
Fax:    Not Provided
E-mail:  luthans.william@epa.gov

Pamela Lyons
Director
Office of Equal Opportunity Contract
Assistance and Environmental Equity
New Jersey Department of Environmental
Protection
CN402
Trenton, NJ 08625
Phone:  609-984-9742
Fax:    609-984-9789
E-mail:  plyons@dep.state.nj.us
                                                                                                       Final: September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page 20
Michael J Lythcott
TAG Advisor
Citizens Against Toxic Exposure
6 Julian Way
Marlboro, NJ 07746-1615
Phone: 723-617-2076
Fax:   723-617-2071
E-mail: adeyemi@world.oberlin.edu

Jim MacDonald
Trustee
Pittsburg (California) Unified School District
274 Pebble Beach Loop
Pittsburg, CA 94565
Phone: 925-139-7665
Fax:   925-473-1886
E-mail: jmacdonald@pfttsburg.k12.ca.us

Thabo Madihlaba
Environmental Justice Network Forum
PO Box 3744
Witbank, South Africa 1035
Phone: 27-13-656-0411
Fax:   27-13-656-0411
E-mail: thabo@ejnf.org.za

Ebony Madyun
SNEEJ
804 Park Avenue
Albuquerque, NM 87102
Phone: 505-242-0416
Fax:   Not Provided
E-mail: emadyun@unm.edu

Shannon Maher
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA
Phone: 404-562-9623
Fax:   Not Provided
E-mail: maher.shannon@epa.gov

Enrique Manzanilla
Region 9
US Environmental Protection Agency
75 Hawthorne Street (CMD-1)
San Francisco, CA 94105
Phone: 415-744-1015
Fax:   415-744-1598
E-mail: manzanilla.enrique@epa.gov
 Rochelle Marceillars
 Air and Radiation Division
 Region 5
 US Environmental Protection Agency
 77 West Jackson Boulevard (AE-17J)
 Chicago, IL 60640
 Phone: 312-353^1370
 Fax:    312-886-8289
 E-mail: marceillars.rochelle@epa.gov

 Davis Marshall
 Lowcountry Area Director
 South Carolina
 Sixth District
 Office of US Representative James E Clyburn
 2106 Mount Pleasant Street
 Charleston, SC  29405
 Phone: 843-965-5578
 Fax:    Not Provided
 E-mail: Not Provided

 Suzanne Marshall
 Serving Alabama's Future Environment
 700 8th Avenue NE
 Jacksonville, AL 36265
 Phone: 256-782-5611
 Fax:    256-782-0424
 E-mail: zanne@jsucc.jsu.edu

 Lawrence Martin
 Office of Research and Development
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 8103R)
'Washington, DC 20460
 Phone: 202-564-6497
 Fax:    202-564-2926
 E-mail: martin.lawrence@epa.gov

 Paul Matthai
 Environmental Protection Specialist
 Pollution Prevention Division
 Office of Prevention Pesticides and Toxic
 Substances
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 7409)
 Washington, DC 20460
 Phone: 202-260-3385
 Fax:    202-260-0178
 E-mail: matthai.paul@epa.gov
Doris Maxwell
Management Analyst
Office of Air and Radiation
Region 4
US Environmental Protection Agency
MD-13
Research Triangle Park, NC 27711
Phone: 919-541-5312
Fax:   919-541-0072
E-mail: maxwell.doris@epa.gov

LaVerne Mayfield
Director
Greater Cincinnati Occupational Health Center
Training Services
7030 Reading Road Suite 540
Cincinnati, OH 45237
Phone: 513-531-7101
Fax:   513-531-7102
E-mail: gcohc@compuserve.com

Zulene Mayfield
Chair
Chester Residents Concerned for Quality
Living
2731 West Third Street
Chester, PA  19013
Phone: 610-485-6683
Fax:   610-485-5300
E-mail: crcql1@aol.com

A Dennis McBricle, MD MPH
North Carolina Department of Health and
Human Services
101 Blair Drive
PO Box 29526
Raleigh, NC 27626-0526
Phone: 919-733-4392
Fax:   919-733-0513
E-mail: amcbride@dhr.state.nc.us

W Michael McCabe
Deputy Administrator
Office of the Administrator
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 1102)
Washington, DC 20460
Phone: 202-564-4711
Fax:   Not Provided
E-mail: mccabe.micheal@epa.gov
                                                                                                      Final: September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page 21
John McCarroll
Region 9
US Environmental Protection Agency
75 Hawthorne Street WST-4
San Francisco, CA 94105
Phone: 415-744-2064
Fax:   415-538-5053
E-mail: mccarroll.john@epa.gov

Mildred McClain
Executive Director
Citizens for Environmental Justice
1115 Habersham Street
Savannah, GA 31401
Phone: 912-233-0907
Fax:   912-233-5105
E-mail: cfej@bellsouth.net

John McCown
Sierra Club
1447 Peachtree Street Suite 305
Atlanta, GA 30309
Phone: 404-888-9778 ext. 224
Fax:   404-876-5260
E-mail: john.mccown@sierraclub.org

Donna Gross McDaniel
Program Coordinator
Laborers-AGC Education and Training Fund
37 Deerfield Road
PO Box 37
Pomfret Center, CT 06259
Phone: 860-974-0800 ext. 109
Fax:   860-974-3157
E-mail: dmcdaniel@laborers-agc.org

Kate McGIoon
Director External Relations
Chemical Manufacturers Association
1300 Wilson Boulevard
Arlington, VA 22209
Phone: 703-741-5812
Fax:   703-741-6812
E-mail: kate_mcgloon@cmahq.com

Jack W. McGraw
Deputy Regional Administrator
Region 8
US Environmental Protection Agency
999 18th Street Suite 500
Denver, CO 80202
Phone: 303-312-6308
Fax:   Not Provided
E-mail: mcgraw.jack@epa.gov
Laura McKelvey
Environmental Scientist
Emissions Standards Division
Region 4
US Environmental Protection Agency
MD-13
Research Triangle Park, NC 27711
Phone: 919-541-5497
Fax:   919-541-9240
E-mail: mckelvey.laura@epa.gov

Lisa Ann McKinley
EPA Liaison
Extension Service
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9403
Fax:   404-562-9343
E-mail: mckinley.lisa@epa.gov

Dan McLawhorn
North Carolina Department of Environment
and Natural Resources
1601 Mail Service Center 14th Floor
Raleigh, NC 27699-1601
Phone: 919-715-4146
Fax:   919-715-3060
E-mail: dan.mclawhorn@ncmail.net

Thea McManus
Associate Director
Municipal & Industrial Solid Waste Division
Office of Solid Waste
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 5306W)
Washington, DC 20460
Phone: 703-308-8254
Fax:   703-308-8686
E-mail: mcmanus.thea@epa.gov

Wilma McSwain
PEACE
PO Box 148
Richton, MS 39476
Phone: 601-788-6287
Fax:   601-788-6287
E-mail: Not Provided
A. Stanley Meiburg
Deputy Regional Administrator
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-8343
Fax:   Not Provided
E-mail: meiburg.stan@epa.gov

Jerilyn Lopez Mendoza
Environmental Defense
10951 West Pico Boulevard Suite 300
Los Angeles, CA  90064
Phone: 310-441-5604
Fax:   310-441-0296
E-mail: jmendoza@environmentaldefense.org

Ted Meyer
12341 Lake Street
#4
Eagle River, AK 99577
Phone: Not Provided
Fax:   Not Provided
E-mail: tedster55@gci.net

Eileen Miles
Fellow
Centers for Disease Control and Prevention
1600 Clifton Road NE (MS-E23)
Atlanta, GA 30333
Phone: 404-639-5961
Fax:   404-639-2565
E-mail: eimO@cdc.gov

Charles Miller
Wendel Rosen Black & Dean
1111 Broadway 24th Floor
Oakland, CA 94607
Phone: 510-834-6600
Fax:   510-834-1928
E-mail: cmiller@wendel.com

Roy D Miller
Program Manager
Uniformed Services University
3020 Cascade Drive
Abingdon,  MD 21009
Phone: 301-295-1522
Fax:   301-295-1579
E-mail: deenm@erols.com
                                                                                                     Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 22
Vernlce Miller-Travis
Program Officer for Environmental Justice
Ford Foundation
,U.S.
Phone: 212-573-4641
Fax:   410-338-2751
E-mail: v.miller-travis@fordfound.org

Dana Minerva
Deputy Assistant Administrator
Office of Water
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 4101)
Washington. DC 20460
Phone: 202-260-5700
Fax:   202-260-5711
E-mail: minervadana@epa.gov

Marsha Minter
Special Assistant
Office of the Administrator
US Environmental Protection Agency
1200 Pennsylvania Avenue NW(MC 1101)
Washington, DC 20460
Phone: 202-564-6982
Fax:   202-501-1480
E-mail: minter.marsha@epa.gov
Cristina Miranda
Intern
Office of Environmental Justice
Office of Enforcement and Compliance
Assurance
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2201A)
Washington, DC 20460
Phone: 202-564-2636
Fax:   202-501-0740
E-mail: miranda.cristina@epa.gov

Harold Mitchell
Director
RE-GENESIS
101 Anita Drive
Spartanburg.SC 29302
Phone: 864-542-8420
Fax:   864-582-4062
E-mail: regenesis50@hotmail.com
 Mark A Mitchell
 President
 Connecticut Coalition for Environmental Justice
 PO Box 2022
 Hartford, CT 06145-2022
 Phone: 860-548-1133
 Fax:    860-548-9197
 E-mail: m_mhc@msn.com

 Carrie Mitchell-Washington
 Town of Ridgeville
 PO Box 423
 Attalla.AL 35954
 Phone: 256-538-8961
 Fax:    256-538-8947
 E-mail: Not Provided

 Daphne B. Moffett
 Agency for Toxic Substances and Disease
 Registry
 1600 Clifton Road NE (MS E-32)
 Atlanta, GA 30333
 Phone: 404-639-0659
 Fax:    404-639-0654
 E-mail: zzcO@cdc.gov

 Leslie Montgomery
 Air Planning Branch
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, GA 30303
 Phone: 404-562-9088
 Fax:   404-562-9019
 E-mail: montgomery.leslie@epa.gov

 Lillian Mood, RN
 Community Liaison
 South Carolina Department of Health and
 Environmental Control
 2600 Bull Street
 Columbia, SC 29201
 Phone: 803-898-3929
 Fax:   803-898-3931
 E-mail: moodlh@columb30.dhec.state.sc.us

John R Moody
Waste Management Division
 Region 9
 US Environmental Protection Agency
75 Hawthorne Street (WST-4)
San Francisco, CA 94105-3901
Phone: 415-744-2058
Fax:   415-538-1044
E-mail: moodv.iohnSJeDa.aov
Anthony Moore
Director of Policy
Virginia Department of Environmental Quality
629 East Main Street
PO Box 10009
Richmond, VA  23240-0009
Phone: 804-698-4484
Fax:    804-698-4346
E-mail: aumoore@deq.state.va.us

Carla Moore
Environmental Justice Team
Region 9
US Environmental Protection Agency
75 Hawthorne Street
San Francisco, CA 94105
Phone: 415-744-1938
Fax:   415-744-1796
E-mail: moore.carla@epa.gov

Rashonda Moore
Environmental Justice Coordinator
Coalition of Black Trade Unionists
Community Health Resources
1380 Poplar Avenue
Memphis, TN 38104
Phone: 901-725-4731
Fax:   901-725-4753
E-mail: rashonda_moore@hotmail.com

Richard Moore
Former Chair of NEJAC
Southwest Network for Environmental and
Economic Justice
PO Box 7399
Albuquerque, NM 87194
Phone: 505-242-0455
Fax:   505-242-5609
E-mail: sneej@igcapc.org

Rachel Morello-Frosch
NSF Post-Doctoral Researcher
School of Public Health
University of California at Berkeley
140 Warren Hall
Berkeley, CA 94720
Phone: 510-642-8853
Fax:   510-642-5815
E-mail: emf@uclink.berkeley.edu
                                                                                                     Final:  September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page 23
Janine Morris
Environmental Engineer
Drinking Water Section
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9480
Fax:   404-562-9439
E-mail: morris.janine@epa.gov

Althea M Moses
Program Manager
Office of Environmental Justice
Region 7
US Environmental Protection Agency
901 North 5th Street
Kansas City, KS 66101
Phone: 913-551-7649
Fax:   913-551-7941
E-mail: moses.althea@epa.gov

Indira Moses
Carolina Power & Lighting Company
PO Box 1551
Raleigh, NC  27602
Phone: 919-546-3690
Fax:   919-546-3329
E-mail: indira.moses@cplc.com

Meredith Moses
Project Engineer
Environmental & Engineering Consultants
C-K Associates Inc
17170 Perkins Road
Baton Rouge, LA 70810
Phone: 225-755-1000
Fax:   225-751-2010
E-mail: meredith.moses@c-ka.com

Edgar Moss
Vice President
Mclntosh E J Taskforce Inc
Atlanta, GA 30310
Phone: 334-944-2239
Fax:   Not Provided
E-mail: Not Provided
Maria Motloung
SANCO
PO Box 10699
Mokodumela, South Africa 9868
Phone:  27-58-789-1786
Fax:    27-58-789-1154
E-mail:  Not Provided

Elsie Motubatse
Swaranang
PO Box 119
Ohrigstad, South Africa 1122
Phone:  27-82-425-0633
Fax:    27-13-764-2467 Magoa
E-mail:  Not Provided

Edgar J Mouton
President
Mossville Environmental Action Now (MEAN)
Inc
3608 East Burton
Sulphur, LA 70663
Phone:  337-625-8414
Fax:    337-882-7476
E-mail: focusonmossville@aol.com

Connie Musgrove
Deputy Director
Office of Regulatory Enforcement
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2241 A)
Washington, DC 20460
Phone: 202-564-2220
Fax:   202-564^0011
E-mail:  Not Provided

William  Muszynski
Deputy Regional Administrator
Office of the Regional Administrator
Region 2
US Environmental Protection Agency
290 Broadway Suite 2620
New York City, NY 10007-1866
Phone: 212-637-5000
Fax:   212-637-5024
E-mail: muszynski.william@epa.gov

Musa Mzimela
Masikhule Nobunye
PO Box 2236
Esikbawani, South Africa 3887
Phone: 27-35-902-2257
Fax:   27-35-902-2229
E-mail:  Not Provided
Jennifer Nash
Department of Environmental and
Occupational Health
Rollins School of Public Health
Emory University
1518 Clifton Road NE
Atlanta, GA 30322
Phone: 404-727-3697
Fax:   404-727-8744
E-mail: jlnash@learnlink.emory.edu

Sonwabo Ndandani
Tsoga Environmental Center
PO Box 254
Langa, South Africa 7455
Phone: 27-21-694-0004
Fax:   27-21-694-9813
E-mail: Not Provided

Mary Nelson
Bethel New Life Inc
4952 West Thomas
Chicago,  IL 60651
Phone: Not Provided
Fax:   Not Provided
E-mail: Not Provided

David Nielsen
Director of Resource Conservation and
Recovery Act
Office of Regulatory Enforcement
Enforcement Division
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2248A)
Washington, DC 20460
Phone: Not Provided
Fax:   Not Provided
E-mail: Not Provided

Pam Nixon
Environmental Advocate
West Virginia Department of Environmental
Protection
10McJunkin Road
Nitro, WV 25143
Phone: 304-759-0570
Fax:   304-759-0526
E-mail: pnixon@mail.dep.state.wv.us
                                                                                                      Final: September 12, 2000

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 May 2000 NEJAC Meeting
 List of Attendees
 Page 24
Jill Nogi
Environmental Protection Specialist
Region 10
US Environmental Protection Agency
1200 6th Avenue (OW137)
Seattle. WA 98101
Phone: 206-553-1900
Fax:   206-553-1280
E-mail: nogi.jill@epa.gov

Dara O'Rourke
Assistant Professor
Environmental Poliy Group
Department of Urban Studies and Planning
Massachusetts Institute of Technology
77 Massachusetts Avenue Room 9-328
Cambridge. MA 02139
Phone: 617-243-5196
Fax:   617-253-7402
E-mail: dorourke@mit.edu

Lila Odom
Chairperson
CARAT Team
Coalition of Black Trade Unionists
United Auto Workers
16045 Warwick
Detroit, Ml
Phone: 373-538-0286
Fax:   Not Provided
E-mail: Not Provided

Ngozi T Oleru, PhD
Chief
Environmental Health Division
Seattle & King County
Public Health
999 Third Avenue
Suite 700
Seattle, WA 98104-4039
Phone: 206-296-4806
Fax:   206-296-0189
E-mail: ngozl.oleru@metrokc.gov

Priscilla Oliver
Life Scientist
Region 4
US Environmental Protection Agency
PO Box 4305
Atlanta, GA 30302-4305
Phone: 404-562-8292
Fax:   404-562-8269
E-mail: oliver.priscilla@epa.gov
 Ken Orloff
 Agency for Toxic Substances and Disease
 Registry
 ,U.S.
 Phone: Not Provided
 Fax:   Not Provided
 E-mail: Not Provided

 NaTaki Osborne
 Emory University
 917 Oak Street
Atlanta, GA 30310
 Phone: 404-876-2602
 Fax:   Not Provided
 E-mail: osbome@nwf.org

Vivian J Outlaw-Pollard
 First Heritage UU Commm
5072 Angela Lane
 Lithonia, GA 30038
Phone: 770-987-8362
Fax:   Not Provided
E-mail: vpollar@emory.edu

James T Owens
Deputy Director
Office of Administration/Resources Mgmt
Region 1
US Environmental Protection Agency
1 Congress Street
Suite 1100 (MIO)
Boston, MA 02114-2023
Phone: 617-918-1911 ext. or 1900
Fax:   617-918-1929
E-mail: owens.james@epa.gov

Julian D Owens, MPH
Special Expert
Library Operations
National Library of Medicine
National Institutes of Health
8600 Rockville Pike
Bethesda, MD 20894
Phone: 301-496-6921
Fax:   301-496-6293
E-mail: owens@nlm.nih.gov

David A Padgett
Owner/Chief Consultant
Geo-Mental
.U.S.
Phone: 615-963-5508
Fax:   734-939-5813
E-mail: geomental@netscape.net
Carlos M. Padin, PhD
Dean
School of Environmental Affairs
The Metropolitan University
PO Box 21150
San Juan, PR 00928-1150
Phone: 787-766-1717
Fax:   787-751-5540
E-mail: Not Provided

Quentin Pair
Trial Attorney
Environmental Enforcement Section
Environment & Natural Resources Division
US Department of Justice
1425 New York Avenue NW
Washington,  DC 20005
Phone: 202-514-1999
Fax:   202-514-2583
E-mail: quentin.pair@usdoj.com

Jeffrey Pallas
Chief, South Section
RCRA Enforcement & Compliance Branch
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-8569
Fax:   404-562-8566
E-mail: pallas.jeff@epa.gov

Daniel Palmer
Team Leader
Office of Environment and Compliance
Assurance
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2222A)
Washington, DC 20460
Phone: 202-564-5034
Fax:   202-564-0031
E-mail: palmer.daniel@epa.gov

Barbara Parker
North Baton Rouge Environmental Association
13343 Abraham Drive
Baton Rouge, LA
Phone: Not Provided
Fax:   Not Provided
E-mail: Not Provided
                                                                                                      Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 25
 Romel L Pascual
 Regional Enviommental Justice Team Leader
 Environmental Justice Office
 Region 9
 US Environmental Protection Agency
 75 Hawthorne Street (CMD-6)
 San Francisco, CA 94105
 Phone:  415-744-1212
 Fax:   415-744-1598
 E-mail:  pascual.romel@epa.gov

 Gilbert Pasqua
 Environmental Protection Specialist
 Region 9
 US Environmental Protection Agency
 75 Hawthorne Street (MD-3)
 San Francisco, CA 94105
 Phone: 415-744-1595
 Fax:   415-744-1604
 E-mail: pasqua.gilbert@epa.gov

 Bill Pate
 Occupational & Environmental Epidemiology
 North Carolina Division of Public Health
 1912 Mail Service Center
 Raleigh, NC 27699-1912
 Phone: 919-715-6432
 Fax:   919-733-9555
 E-mail: bill.pate@ncmail.net

 Shirley Pate
 Office of Enforcement Capacity and Outreach
 Office of Enforcement and Compliance
Assurance
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (NIC 2201 A)
Washington, DC 20460
Phone: 202-564-2607
Fax:   202-501-0284
E-mail: pate.shirley@epa.gov

Ginger A. Payne
Atofina
PO Box 1427
Beaumont, TX 77704-1427
Phone: 409-838-3981 ext. 231
Fax:   409-833-2953
E-mail: gpayne@ato.com
 Marinelle Payton
 Chair, Department of Public Health
 Jackson Medical Mall
 School of Allied Health Sciences
 Jackson State University
 350 West Woodrow Wilson Avenue
 Suite 3430
 Jackson, MS 39213-7681
 Phone: 601-364-2580
 Fax:    601-982-3127
 E-mail: mpayton@mail1 .jsums.edu

 Edith Pestana, MPH
 Administrator
 Environmental Equity Program
 Connecticut Department of Environmental
 Protection
 79 Elm Street
 Hartford, CT 06105
 Phone: 860-424-3044
 Fax:    860-424^153
 E-mail: edith.pestana@po.state.ct.us

 Cynthia Peurifoy
 Community Relations Coordinator
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, GA 30303
 Phone: 404-562-9649
 Fax:   404-562-9487
 E-mail: peurifoy.cynthia@epa.gov

 Solly Phetoe
 COSATU
 PO Box 3614
 Brits, South Africa 0250
 Phone: 27-12-318-2536
 Fax:   27-12-318-2449
 E-mail: Not Provided

 Pamela Phillips
 Deputy Director
 Superfund Division
 Region 6
 US Environmental Protection Agency
 1445 Ross Avenue Suite 1200
 Dallas, TX 75202-2733
 Phone: 214-665-6701
 Fax:   214-665-7330
E-mail: phillips.pam@epa.gov
 R Gary Pierson
 Forest Service
 US Department of Agriculture
 1720 Peachtree Road NW
 Atlanta, GA 30367
 Phone: 404-347-3183
 Fax:    404-347-5401
 E-mail: rpierson@fs.fed.us

 Solomon Pollard, Jr
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, GA  30303
 Phone: 404-562-8293
 Fax:    404-562-8269
 E-mail: pollard.solomon@epa.gov

 Carlos Porras
 Communities for a Better Environment
 5610 Pacific Boulevard Suite 203
 Huntington Park, CA 90255
 Phone: 323-826-9771 ext. 109
 Fax:    323-588-7079
 E-mail:  lacausala@aol.com

 Alan Powell
 Environmental Engineer
 Air Programs
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
Atlanta, GA 30064
 Phone: 404-562-9045
 Fax:   404-562-9068
 E-mail: powell.alan@epa.gov

Yvonne Gavin Powell
 PEACE
 PO Box 148
 Richton, MS  39476
Phone: 601-731-1898
Fax:   601-788-6287
E-mail: Not Provided

 Hattie Price
Coalition of Black Trade Unionists
PO Box 23631
St Louis, MO 63121
Phone: 314-383-1993
Fax:   Not Provided
E-mail: Not Provided
                                                                                                      Final: September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page 26
Barbara Pullen-Smith
Office of Minority Health
225 North McDonald Street
Cooper Building Suite 6048A
Raleigh, NC  27699-1906
Phone: 919-715-0994
Fax:   919-715-0997
E-mail: barbara.pullen-smith@ncmaH.net

Robert M Ragos
National Program Delivery Manager
Forest Service
US Department of Agriculture
20114th & Independence SW
Washington,  DC 20250
Phone: 202-205-0961
Fax;   202-690-1025
E-mail: robertragos/wo@fs.fed.us

Connlo Raines
Manager
Environmental Justice and Community Liaison
Program
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303-3104
Phone: 404-562-9671
Fax:   404-562-9664
E-mail: raines.connie@epa.gov

Rosa Ramos
Community Leader
Community of Catano Against Pollution
La Marina Avenue Mf 6 Marina Bahia
Catano, PR 00962
Phone: 787-788-0837
Fax:   787-788-0837
E-mail: rosah@coqui.net

Karen Randolph
Permits and State Programs Division
Office of Solid Waste and Emergency
Response
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 5303W)
Washington,  DC 20460
Phone: 703-308-8651
Fax:   703-308-8617
E-mail: randolph.karen@epa.gov
Michael Rathsam
Senior Environmental Health Officer
Division of Environmental Health Services
Indian Health Service
122 East Seneca Street
Manlius, NY 13104
Phone: 315-682-3167
Fax:   Not Provided
E-mail: michael.rathsam@mail.ihs.gov

Swati Raut
Research Asscociate
Army Environmental Policy Institute
US Department of the Army
101 Marietta Street NW Suite 3120
Atlanta, GA 30303
Phone: 404-524-9364
Fax:   404-524-9368
E-mail: sraut@aepi.army.mil

Arthur Ray
Deputy Secretary
Maryland Department of the Environment
2500 Broening Highway
Baltimore, MD 21224
Phone: 410-631-3086
Fax:   410-631-3888
E-mail: aray@mde.state.md.us

Calvin Reaves
Student
North Carolina Central University
700 Monreene Road Apt B-10
Durham, NC 27705
Phone: 919-309-0780
Fax:   Not Provided
E-mail: calvin_reaves@hotmail.com

Doretta Reaves
Public Liaison Specialist
Office of Communications Education and
Public Affairs
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 1702)
Washington, DC 20460
Phone: 202-564-7829
Fax:   202-501-1773
E-mail: reavesdoretta@epa.gov
Leslie Reed
Manager, Clean Water State Revolving Fund
Program
Municipal Financial Assistance Branch
Region 3
US Environmental Protection Agency
1650 Arch Street (3WP21)
Philadelphia, PA 19103-2029
Phone: 215-814-5772
Fax:   215-814-2318
E-maH: reed.leslie@epa.gov

Michael S Regan
Office of Air and Radiation
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 6102)
Washington, DC 20460
Phone: Not Provided
Fax:   Not Provided
E-mail: regan.michael@epa.gov

Donata Renfrew
Army Environmental Policy Institute
Department of the Army
101 Marietta Street NW
Suite 3120
Atlanta, GA 30303-2720
Phone: 404-524-9364
Fax:   404-524-4241
E-mail: drenfrow@aepi.army.mil

William W Rice
Deputy Regional Administrator
Region 7
US Environmental Protection Agency
901 North 5th Street
Kansas City, KS 66101
Phone: 913-551-7306
Fax:   913-551-7976
E-mail: rice.william@epa.gov

Brenda Lee Richardson
President
Women Like Us
PO Box 31003
3008 24th Place
Washington, DC 20030
Phone: 202-678-1978
Fax:   202-889-1917
E-mail: womenlikeusbr@hotmail.com
                                                                                                     Final: September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page 27
Matthew Robbins
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-8371
Fax:   404-562-8370
E-mail: robbins.matt@epa.gov

Alfred Roberts
NRCS
US Department of Agriculture
1720 Peachtree Road NW Suite 446N
Atlanta, GA 30309
Phone: 404-347-6105
Fax:   404-347-6108
E-mail: aroberts@se.nrcs.usda.gov

Mark Robertson
Regional Indian Program Coordinator
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9639
Fax:   404-562-9598
E-mail: robertson.mark@epa.gov

Donna Robinson
Environmental Protection Assistant
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9632
Fax:   Not Provided
E-mail: Not Provided

Farella Esta Robinson
United States Commission on Civil Rights
400 State Avenue Suite 908
Kansas City, KS 66101
Phone: 913-551-1405
Fax:   913-551-1413
E-mail: farella.e.robinson@usccr.sprint.com
Felicia Robinson
Environmental Engineer
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9371
Fax:   404-562-9343
E-mail: robinson.felicia@epa.gov

Hec Robinson
Photographer
CTEJ
16 Highland Park Avenue
Boston, MA
Phone: 617-427-3768
Fax:   Not Provided
E-mail: Not Provided

Leonard Robinson
TAMCO
12459 Arrow Highway
PO Box 325
Rancho Cucamonga, CA 91739
Phone: 909-899-0631  Ext203
Fax:   909-899-1910
E-mail: robinsonl@tamcosteel.com

Philip E Robinson
Office of Prevention Pesticides and Toxic
Substances
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 7408)
Washington,  DC 20460
Phone: 202-260-3910
Fax:   202-260-2219
E-mail: robinson.phil@epa.gov

Delores Rodgers-Smith
Environmental Policy Analyst
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-8063
Fax:   Not Provided
E-mail: Not Provided
Henry Rodriguez
President
Native American Environmental Protection
Coalition
28714 Valley Center Road Suite F
Valley Center, CA 92082
Phone: 760-751-8686
Fax:   760-751-8685
E-mail: naepc@primenet.com

Helen Schurz Rogers, PhD
Health Scientist
National Center for Environmental Health
Centers for Disease Control and Prevention
1600 Clifton Road NE (MS E23)
Atlanta, GA 30333
Phone: 404-639-2561
Fax:   404-639-2565
E-mail: hhsO@cdc.gov

TJ Roskelley
Northeast States for Coordinated Air Use
Management
,U.S.
Phone: Not Provided
Fax:   Not Provided
E-mail: Not Provided

Marvin Ross
Community Relations Manager
Office of Environmental Equity
New Jersey Department of Environmental
Protection
506 East State Street
PO Box 402
Trenton, NJ 08625-0402
Phone: 609-984-9742
Fax:   609-984-9789
E-mail: mross@dep.state.nj.us

Michael Sage
National Center for Environmental Health
Centers for Disease Control and Prevention
National
4770 Buford Highway (MS F-28)
Atlanta, GA 30341-3724
Phone: 770-488-7002
Fax:   301-488-4178
E-mail: mjs6@cdc.gov
                                                                                                      Final:  September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 28
 Alberto Saldamando
 General Counsel
 International Indian Treaty Council
 2390 Mission Street Suite 301
 San Francisco, CA 94110
 Phone: 415-641-4482
 Fax:  415-641-1298
 E-mail: iitc@igc.apc.org

 J Gilbert Sanchez
 Executice Director
 Tribal Environmental Watch Alliance
 Route5Box442-B
 Espanola, NM 87532
 Phone: 505-747-7100
 Fax:  505-747-7100
 E-mail: tewawn@msn.com

 William H Sanders, III
 Director
 Office of Pollution Prevention and Toxics
 Office of Prevention Pesticides and Toxic
 Substances
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (NIC 7401)
 Washington. DC 20460
 Phone: 202-260-3810
 Fax:   202-260-0575
 E-mail: sanders.william@epa.gov

 Sonya Sasscville
 Permits and State Programs Division
 Office of Solid Waste and Emergency
 Response
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 5303W)
Washington, DC 20460
 Phone: 202-308-8648
 Fax:   202-308-8638
E-mail: sasseville.sonya@epa.gov
 Malcolm Saunders
 Environmental Specialist
 Division of Environmental Health
Department of Health and Wellness
 Fulton County
99 Butler Street, SE
Atlanta, GA 30303
Phone: 404-730-1357
Fax:   404-730-1304
E-mail: Not Provided
 John S Seitz
 Director
 Office of Air and Radiation
 Region 4
 US Environmental Protection Agency
 MD-13
 Research Triangle Park, NC 27711
 Phone:  919-541-5616
 Fax:    919-541-0501
 E-mail:  seitz.john@epa.gov

 Joseph Sejud
 Medical Consultant
 Office of Public Health
 Louisana Department of Health and Hospitials
 .U.S.
 Phone:  504-568-7036
 Fax:    504-568-7035
 E-mail:  jsejud@dhhmail.dhh.state.la

 Dean Seneca
 Health Program Specialist
 Centers for Disease Control and Prevention
 1600 Clifton Road NE (MS D-39)
 Atlanta,  GA 30333
 Phone:  404-639-7220
 Fax:    404-639-7039
 E-mail:  zkg8@cdc.gov

 Larry R Shannon
 Chief
 Office for External Programs
 US Fish and Wildlife Service
 US Department of the Interior
 4040 N.  Fairfax Drive
 Suite 130
 Arlington, VA 22203
 Phone:  703-358-2551
 Fax:    703-358-2524
 E-mail:  larry_shannon@fws.gov

 Michael Shapiro
 Deputy Assistant Adminisrator
 Office of Solid Waste and Emergency
 Response
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 5101)
Washington, DC 20460
 Phone: 202-260-4610
 Fax:   202-260-3527
 E-mail: shapiro.mike@epa.gov
 Sally Shaver
 Director
 Office of Air Quality Planning and Standards
 Region 4
 US Environmental Protection Agency
 MD-13
 Research Triangle Park, NC  27711
 Phone:  919-541-5572
 Fax;    919-541-0072
 E-mail:  Not Provided

 Kelly Sheckler
 Environmental Scientist
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, GA 30303
 Phone: 404-562-9042
 Fax:   404-562-9068
 E-mail: sheckler.kelly@epa.gov

 Peggy M Shepard
 Executive Director
 West Harlem Environmental Action Inc
 271 West 125th Street Suite 303
 New York, NY 10027
 Phone: 212-961-1000 ext. 303
 Fax:   212-961-1015
 E-mail: wheact@igc.org

 Van Shrieves
 Environmental Scientist
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, GA 30303-8960
 Phone: 404-562-9089
 Fax:   404-562-9019
 E-mail: shrieves.van@epa.gov

 Danny Sims
 Department of Environmental and
 Occupational Health
 Rollins School of Public Health
 Emory University
 1518 Clifton Road NE
Atlanta, GA 30303
 Phone: 404-727-3697
 Fax:   404-727-8744
 E-mail: dbsims@emory.edu
                                                                                                      Final: September 12, 2000

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May 2000 NEJAC Meeting
List of Attendees
Page 29
Molly Singer
International City/County Management
Association
777 North Capitol Street NE Suite 500
Washington, DC 20002
Phone: 202-962-3623
Fax:   202-962-3605
E-mail: msinger@icma.org

L'Tryce Slade
University of North Carolina at Chapel Hill
901 B2 Park Ridge Road
Durham, NC 27713
Phone: 919-493-7163
Fax:   Not Provided
E-mail: Islade1@email.unc.edu

Nicole Slaughter
FOIA Specialist
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-8505
Fax:   Not Provided
E-mail: slaughter.nicole@epa.gov

George Smalley
Manager, Constituency & Community Relations
Equiva Services LLC
1100 Louisiana Street #2136
Houston, TX 77002
Phone: 713-277-8005
Fax:   713-277-7856
E-mail: gfsmalley@equiva.com

Betsy Smidinger
Chief
Targeting and Evaluation Branch
Office of Enforcement and Compliance
Assurance
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2222A)
Washington, DC 20460
Phone: 202-564-1017
Fax:   Not Provided
E-mail: smidinger.betsy@epa.gov

Ann Smith
Ashurst Bar/ Smith Community Organization
436 Glenden Drive
Tallassee.AL 36078
Phone: 334-288-4067
Fax:   Not Provided
E-mail: acsmith@tallassee.net
Damu Imara Smith
Campaigner
Greenpeace Inc
1436 U Street NW
Washington, DC 20009
Phone: 202-319-2410
Fax:   202-462-4507
E-mail: damu.smith@udc.greenpeace.org

Linda K Smith
Associate Director For Resources
Management
Office of Environmental Justice
Office of Enforcement and Compliance
Assurance
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 2201 A)
Washington, DC 20460
Phone: 202-564-2602
Fax:   202-501-1162
E-mail: smtth.linda@epa.gov

Robert Smith
Program Analyst
American Indian Environmental Office
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 4104)
Washington, DC 20460
Phone: 202-260-8202
Fax:   202-260-7509
E-mail: smith.bob-nmi@epa.gov

Thomas Smith
Ashurst Bar / Smith Community Organization
436 Glenden Drive
Tallassee, AL 36078
Phone: 334-783-4067
Fax:   Not Provided
E-mail: Not Provided

Wade Smith
Ashurst Bar / Smith Community Organization
496 Glenden Drive
Tallassee, AL 36078
Phone: 334-283-2826
Fax:   Not Provided
E-mail: Not Provided
Winston Smith
Division Director
Air, Pesticides, & Toxics Management Division
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303-3104
Phone: 404-562-9077
Fax:   404-562-9066
E-mail: smith.winston-a@epa.gov

Carolyn Snow
Staff Assistant
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 5101)
Washington, DC 20460
Phone: 202-260-4610
Fax:   202-260-3527
E-mail: Not Provided

Anna K Spain
Office of Air and Radiation
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 6101 A)
Washington, DC 20460
Phone: 202-564-1453
Fax:   202-501-1004
E-mail: spain.anna@epa.gov

Porche Spence
Intern
Region 4
US Environmental Protection Agency
2117 Mariner Circle
Raleigh, NC 27603
Phone: 919-839-8535
Fax:   Not Provided
E-mail: porchespence@yahoo.com

Alonzo Spencer
President
Save Our County inc
Tri-State Environmental Council
PO Box 1242
East Liverpool, OH 43920
Phone: 330-385-4584
Fax:   330-385-4584
E-mail: Not Provided
                                                                                                     Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 30
 Moses Squeochs
 Yakama Nation
 PO Box 151 Fort Road
 Toppenish, WA 98948
 Phone: 509-865-5121
 Fax:    509-865-5522
 E-mail: mose@yakama.com

 Jane Stahl
 Deputy Assistant Commissioner
 Connecticut Department of Environmental
.Protection
 79 Elm Street
 Hartford, CT 06106-5127
 Phone: 860-424-3009
 Fax;    860-424-4054
 E-mail: janestahl@po.state.ctus

 John Stanton
 Associate Editor
 Inside EPA
 1225 Jefferson Davis Highway Suite 1400
 Arlington, VA 22202
 Phone: 703-416-8536
 Fax:   703-416-8543
 E-mail: john.stanton@iwpnews..com

Juanlta R Stewart
 President
 LEAN
 North Baton Rouge Environmental Association
 PO Box 781
 Baker, LA 70704-0781
Phone: 225-774-7143
Fax:   Not Provided
E-mail: Not Provided

Lo Vonne Stone
Executice Director
Fort Ord Environmental Justice Network
PO Box 361
Marina, CA  93933
Phone: 831-883-1254
Fax:   Not Provided
E-mail: evnjustice@redshift.com

Dean Suagce
First Nations Environmental Law Program
Vermont Law School
Chelsea Street
South Royalton, VT  05068
Phone: 802-763-8303 ext. 2341
Fax:   802-763-2940
E-mail: dsuagee@vemnontlaw.edu
 Nancy Sutley
 California Environmental Protection Agency
 555 Capitol Mall Suite 525
 Sacramento, CA 95814
 Phone:  916-322-7215
 Fax:    916-324-0908
 E-mail:  nsutley@calepa.ca.gov

 Joseph E Svoboda
 Chief, Legal Counsel
 Illinois Environmental Protection Agency
 1021 North Grand Avenue East
 PO Box 19276
 Springfield, IL 62794-9276
 Phone:  217-782-5544
 Fax:    217-782-9807
 E-mail:  epa8807@epa.state.il.us

 Samara Swanston
 The Watch Person Project
 113 Berry Street
 Brooklyn, NY 11211
 Phone:  718-384-3339
 Fax:    718-384-3394
 E-mail:  Not Provided

 Rabbi Dan Swartz
 Executive Director
 Children's Environmental Health Network
 110 Maryland Avenue NE Suite 511
Washington, DC 20002
 Phone: 202-543-4033
Fax:   202-543-8797
E-mail: dswartz@cehn.org

Tern Swearingen
Coordinator
Tri-State Environmental Council
Route 1 Box 365
Chester, WV 26034
Phone: 304-387-0574
Fax:   304-387-0574
E-mail: tswearin@weir.net

Mervyn Tano
President
International Institute for Indigenous Resource
Management
444 South Emerson Street
Denver, CO 80209-2216
Phone: 303-733-0481
Fax:   303-744-9808
E-mail: mervtano@iiimi.org
 Michael Taylor
 Vita Nuova
 97 Head of Meadow
 Newtown, CT 06470
 Phone: 203-270-3413
 Fax:   203-270-3422
 E-mail: tayJorm@pcnet.com

 Willie R Taylor
 Director
 Office of Environmental Policy and Compliance
 US Department of the Interior
 1849 C Street NW Room 2340
 Washington, DC 20240
 Phone: 202-208-3891
 Fax:   202-208-6970
 E-mail: willie_taylor@iosdoi.gov

 Claude E Terry
 Manager
 CTA Environmental Inc
 50 Executive Park South Suite 5010
 Atlanta, GA 30329
 Phone: 404-728-9217
 Fax:   404-728-9103
 E-mail: cta@mindspring.com

 Christopher P Thomas
 Environmental Engineer
 Office of Enforcement and Compliance
 Environmental Justice
 Region 3
 US Environmental Protection Agency
 1650 Arch Street
 Philadelphia, PA 19106
 Phone: 215-814-5555
Fax:   215-814-3172
E-mail: thomas.chris@epa.gov

 Hardy Thomas
Health Safety Officer
PO Box 44715
Detroit, Ml 48244
Phone: 313-599-1117
Fax:   Not Provided
E-mail: bigfellow@excite.com
                                                                                                     Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 31
 James L Thompson, Jr
 Assistant Special Agent in Charge
 Office of Criminal Enforcement
 Region 3
 US Environmental Protection Agency
 1650 Arch Street (3CEOO)
 Philadelphia, PA 19107-2029
 Phone: 215-814-2374
 Fax:   215-814-2383
 E-mail: thompson.james@epa.gov

 Patricia Tidwell
 Special Assistant to Assistant Administrator
 Office of Solid Waste and Emergency
 Response
 US Environmental Protection Agency
 401 M Street SW (5101)
 Washington, DC 20460
 Phone: 202-260-4610
 Fax:    202-260-3527
 E-mail: tidwell.patricia@epa.gov

 Francisco A Tomei-Torres
 Minority Health Program Specialist
 Agency for Toxic Substances and Disease
 Registry
 1600 Clifton Road NE (MS E28)"
 Atlanta, GA 30333
 Phone:  404-639-5060
 Fax:   404-639-5063
 E-mail: fbt3@cdc.gov

 Henry Topper
 Baltimore Partnership Project
 Office of Prevention Pesticides and Toxic
 Substances
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 7408)
Washington,  DC  20460
 Phone: 202-260-6750
Fax:   202-260-2219
E-mail: topper.henry@epa.gov

Gerald Torres
Vice Provost / Professor of Law
University of Texas Law School
727 East Dean Keeton Room 3266
Austin, TX 78705
Phone: 512-232-1368
Fax:   512-232-3310
E-mail: gtorres@mail.law.utexas.edu
 Connie Tucker
 Executive Director
 Southern Organizing Committee for Economic
 and Social Justice
 PO Box 10518
 Atlanta, GA 30310
 Phone: 404-755-2855
 Fax:   404-755-0575
 E-mail: socejp@igcapc.org

 John Tucker
 Assistant Professor
 Biological and Environmental Sciences
 The University of Tennessee at Chattanooga
 215 Holt Hall 615 McCallie Avenue
 Chattanooga, TN  37403-2598
 Phone: 423-755-4341
 Fax:    423-785-2285
 E-mail: john-tucker@utc.edu

 Haywood Turrentine
 Executive Director
 Laborers' District Council Education and
 Training Trust Fund
 500 Lancaster Pike
 Exton, PA 19341
 Phone: 610-524-0404
 Fax:    610-524-6411
 E-mail: Not Provided

 David Ullrich
 Deputy Regional Administrator
 Region 5
 US Environmental Protection Agency
 77 West Jackson Boulevard (R-19J)
 Chicago, IL 60604-3590
 Phone: 312-886-3000
 Fax:    312-353-1120
 E-mail:  ullrich.david@epa.gov

 Robert WVarney
Commissioner
New Hampshire  Deptartment of Environmental
Services
6 Hazen Drive
Concord, NH 03301
Phone: 603-271-3449
Fax:   603-271-2867
E-mail: rvarney@des.state.nh.us
 Thomas C Voltaggio
 Deputy Regional Administrator
 Hazardous Waste Management Division
 Region 3
 US Environmental Protection Agency
 1650 Arch Street
 Philadelphia, PA  19103
 Phone: 215-814-3125
 Fax:   215-814-2901
 E-mail: voltaggio.tom@epa.gov

 Caitlin Waddick
 Doctoral Student
 City Planning Program
 College of Architecture
 Georgia Institute of Technology
 Atlanta, GA 30332-0155
 Phone: 404-894-2353
 Fax:    404-894-1628
 E-mail: caitlin.waddick@arch.gatech.edu

 Alice Walker
 Senior Program Analyst
 Office of Water
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 4102)
 Washington, DC 20460
 Phone: 202-260-1919
 Fax:   202-269-3597
 E-mail: walker.alice@epa.gov

 Jana L Walker
 Law Office of Jana L Walker
 141 Placitas Trails Road
 Placitas, NM 87043
 Phone: Not Provided
 Fax:   Not Provided
 E-mail: Not Provided

 Kimyada Walls
 Office of Air and Radiation
 Region 4
 US Environmental Protection Agency
MD-13
Research Triangle  Park, NC 27711
Phone: 919-541-0375
Fax:   919-541-0072
E-mail: walls.kimyada@epa.gov
                                                                                                      Final:  September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 32
Alan Walts
Region 5
US Environmental Protection Agency
77 West Jackson Boulevard (C-14J)
Chicago, IL 60604
Phone: 312-353-8894
Fax:   312-886-0747
E-mail: walts.alan@epa.gov

Jackie Ward
Associate Director
Southern Organizing Committee for Economic
and Social Justice
PO Box 10518
Atlanta, GA 30310
Phone: 404-755-2855
Fax:   404-755-0575
E-mail: socejp@igc.apc.org
Ruoben Warren
Associate Administrator for Urban Affairs
Agency for Toxic Substances and Disease
Registry
1600 Clifton Road NE (MS E28)
Atlanta. GA 30333
Phone: 404-639-5060
Fax:   404-639-5063
E-mail: rcw4@cdc.gov

Cynthia Warrick
School of Pharmacy
Howard University
2300 Fourth Street NW
Washington, DC 20059
Phone: 202-806-4919
Fax:   202-806-4636
E-mail: cwarrick@howard.edu

Carlton Waterhouse
Attorney
Office of Legal Support
Region 4
US Environmental Protection Agency
61 Forsyth Street SW
Atlanta, GA 30303
Phone: 404-562-9676
Fax:   404-562-9664
E-mail: waterhouse.carlton@epa.gov
 Floyd Wellborn
 Region 4
 US Environmental Protection Agency
 61 Forsyth Street SW
 Atlanta, FL  30303
 Phone: 404-562-9296
 Fax:   404-562-8692
 E-mail: wellbom.floyd@epa.gov

 Corinne Wellish
 Director
 Policy and Resources Management Office
 Office of Water
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 4102)
 Washington, DC 20460
 Phone: 202-260-3881
 Fax:   202-260-0587
 E-mail: wellish.corinne@epa.gov

 Charles Wells
 Office of the Director
 National Institute of Environmental Health
 Sciences
 31  Center Drive (MS 2256) Room B1C02
 Bethesda, MD 20892-2256
 Phone: 301-496-2920
 Fax:   301-496-0563
 E-mail: wells1@niehs.nih.gov

 Suzanne E Wells
 Director
 Community Involvement and Outreach Center
 Superfund Program
 US  Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 5204G)
Washington, DC 20460
 Phone: 703-603-8863
 Fax:   703-603-9100
 E-mail: wells.suzanne@epa.gov

 Betsey Weltner
Weltner Communications
 50 Hurt Plaza Suite 910
Atlanta, GA 30303
 Phone: 404-681-5475
 Fax:   404-681-5478
 E-mail: betsey@weltner.com
Chen H Wen
Program Analyst
Office of Pollution Prevention and Toxics
Office of Prevention Pesticides and Toxic
Substances
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 7404)
Washington, DC 20460
Phone: 202-260-4109
Fax:   202-260-0178
E-mail: wen.chen@epa.gov

Michael Wenstrom
Region 8
US Environmental Protection Agency
999 18th Street Suite 500
Denver, CO 80202-2466
Phone: 303-312-7009
Fax:   303-312-6409
E-mail: wenstrom.mike@epa.gov

Angele C White
Public Health Consultant
Private Consultant
138 Taussig Place NE Apt 1
Washington, DC 20011
Phone: 202-635-3387
Fax:   202-635-3387
E-mail: angelecw@yahoo.com

Douglas H White
Senior Policy Advisor
Region 2
US Environmental Protection Agency
290 Broadway
Room 2620
New York, NY 10007-1866
Phone: 212-637-5032
Fax:   212-637-5024
E-mail: Not Provided

Jalonne White
National Society of Black Engineers
1148 Hidden Ridge Avenue No 1275
Irving, TX 75038
Phone: 972-714-3868
Fax:   214-631-4313
E-mail: jlwhite@usg.com
                                                                                                      Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 33
 Damon Whitehead
 Earth Conservation Corps
 PO Box 77263
 Washington, DC 20013-7263
 Phone: 202-607-0864
 Fax:   301-483-9779
 E-mail: wpd7@yahoo.com

 Joyce Whiten
 Senior Policy Advisor
 Planning and Research
 Office of Governor Gray Davis
 1400  10th Street
 Sacramento, CA 95814
 Phone: 916-322-2318
 Fax:   916-324-9936
 E-mail: joyce.whiten@opr.ca.gov

 Donele Wilkins
 Detroiters Working For Environmental Justice
 PO Box 14944
 Detroit, Ml 48214
 Phone: 313-821-1064
 Fax:   313-821-1072
 E-mail: dwdwej@aol.com

 Margaret Williams
 President
 Citizens Against Toxic Exposure
 6400 Marianna Drive
 Pensacola, FL 32504
 Phone: 850-494-2601
 Fax:   850-479-2044
 E-mail: Not Provided

 Shirley Williams
 Pollution Member
 Community Against Pollution
 1116 West 17th Street
Anniston, AL 36201
 Phone: 256-237^948
 Fax:   256-236-6248
 E-mail: sisterbake@aol.com

Jeanean Willis
Senior Public Health Analyst
 Office of Minority Health
 Health Resources and Services Administration
5600 Fishers Lane Room 10-49
 Rockville, MD  20856
Phone: 301-443-0943
 Fax:   301-443-7853
 E-mail: jwillis@hrsa.gov
J Wil Wilson, Jr
Enviormental Justice Coordinator
Office of Air and Radiation
US Environmental Protection Agency
1200 Pennsylvania Avenue NW (MC 6101)
Washington, DC  20460
Phone:  202-564-1954
Fax:    202-564-1549
E-mail:  wilson.wil@epa.gov

Johnny Wilson
Clark Atlanta University
2518 Springdale Road SW
Atlanta,  GA 30315
Phone:  404-880-8245
Fax:    404-880-8717
E-mail:  jwilson_l@cau.edu

Sacoby Wilson
Graduate Student
Department of Environmental Science and
Engineering
University of North Carolina at Chapel Hill
1000 Smith Level Road
Apartment C1
Carrboro, NC 27510
Phone:  919-960-2777
Fax:    Not Provided
E-mail:  smwilson@email.unc.edu

Arthur Wing, IV
Environmental Justice Coordinator
Office of Civil Rights & Urban Affairs
Region 1
US Environmental Protection Agency
1 Congress Street
Boston, MA 02203
Phone:  617-918-1347
Fax:    617-918-1291
E-mail: wing.art@epa.gov

Steve Wing
Department of Epidemiology
University of North Carolina-Chapel Hill
Box 7400 McGavran-Greenberg Building
Chapel Hill, NC 27514
Phone: 919-966-7445
Fax:   919-966-2089
E-mail:  Not Provided
 Robert Wingfield, Jr
 Associate Professor
 Department of Chemistry
 Fisk University
 1000 17th Avenue N
 Nashville, TN 37211
 Phone: 615-329-8626
 Fax:   615-329-8816
 E-mail: rwingfld@dubois.fisk.edu

 Dwain Winters
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 7404)
 Washington, DC 20460
 Phone: 202-260-8558
 Fax:   202-260-0018
 E-mail: winters.dwain@epa.gov

 Anna Marie Wood
 Senior Regulatory Impact Analyst
 Office of Enforcement and Compliance
 Office of Air and Radiation
 US Environmental Protection Agency
 1200 Pennsylvania Avenue NW (MC 6103A)
 Washington,  DC 20460
 Phone: 202-564-1664
 Fax:   202-564-1554
 E-mail: wood.anna@epa.gov

 Pat Hill Wood
 Senior  Manager
 Federal Regulatory Affairs
 Georgia-Pacific Corporation
 1875 Eye Street NW Suite 775
Washington,  DC 20006
 Phone: 202-659-3600
 Fax:   202-223-1398
 E-mail: pkwood@gapac.com

 Richard (Dick) Woodruff, PE
Village Creek Human and Environmental
Justice Society
Herdon Engineering Association
 PO Box 660348
 Birmingham, AL 35266
Phone: 205-823-7480
Fax:   205-823-7483
E-mail: Not Provided
                                                                                                      Final: September 12, 2000

-------
 May 2000 NEJAC Meeting
 List of Attendees
 Page 34
Beverly Wright
Director
Deep South Center for Environmental Justice
Xavier University
7325 Palmetto Street Box 45B
New Orleans, LA 70125
Phone: 504-483-7340
Fax:   504-488-3081
E-mail: dscej@aol.com

Beverly M Wright
Chairperson
Wampanoag Tribe of Gay Head Aquinnah
20 Black Brook Road
Aguinnah, MA 02535
Phone: 508-645-9265
Fax:   508-645-3790
E-mail: chairprs@wtgh.vineyard.net

Russ Wright
Director
Science and Ecosystems
Region 4
US Environmental Protection Agency
980 College Station Road
Athens, GA 30605
Phone: 706-355-8505
Fax:   706-355-8508
E-mail: Not Provided

Michelle Xenos
Shundahai Network
5007 Elmhurst Lane
Las Vegas, NV 89108
Phone: 702-647-3095
Fax:   702-547-9385
E-mail: shundahai@shundahai.org

Gerald H Yamada
Attorney
Paul Hastings Janofsky and Walker LLP
1200 Pennsylvania Avenue NW 10th Floor
Washington, DC 20460
Phons: 202-508-9573
Fax:   202-508-9700
E-mail: ghyamada@phjw.com
Marianne Yamaguchi
Director
Santa Monica Bay Restoration Project
320 West 4th Street Suite 200
Los Angeles, CA 90013
Phone: 213-576-6614
Fax:   213-576-6646
E-mail: myamaguc@rb4.swrcb.ca.gov

Tseming Yang
Vermont Law School
Chelsea Street Whitcomb House
South Royalton, VT 05068
Phone: 802-763-8303 ext. 2344
Fax:   802-763-2663
E-mail: tyang@venmontlaw.edu

Evelyn Yates
President
CWWG
Pine Bluff for Safe Disposal
4323 Olive No 115
Pine Bluff, AR 71602
Phone: 870-543-8922
Fax:   870-543-8484
E-mail: yates_e@yahoo.com

Harold Yates
Senior Community Involvement Coordinator
Hazardous Site Cleanup Division
Region 3
US Environmental Protection Agency
1650 Arch Street.
Philadelphia, PA 19103   •
Phone: 215-814-5530
Fax:   215-814-5518
E-mail: yates.hal@epa.gov

Laura Yoshii
Deputy Regional Administrator
Region 9
US Environmental Protection Agency
75 Hawthorne Street
San Francisco, CA 94105
Phone: 415-744-1001
Fax:   415-744-2499
E-mail: yoshii.laura@epa.gov
James Younger
Region 1
US Environmental Protection Agency
One Congress Street Suite 1100
Boston, MA 02114-2023
Phone: 617-918-1061
Fax:   617-918-1029
E-mail: younger.james@epa.gov

Ian Zabarte
Western Shoshone National Council
PO Box 210
Indian Springs, NV 89018
Phone: 702-879-3237
Fax:   Not Provided
E-mail: izabarte@msn.com

Isidro Zarraga
Lawyer
CVSCAFT
, Philipines
Phone: 632-911-0224
Fax:    632-911-6373
E-mail: zarrga@mozcom.com

Harold Zenick
Associate Director
National Health and Environmental Effects
Research Laboratory
Region 4
US Environmental Protection Agency
MD-87
Research Triangle Park, NC  27711
Phone: 919-541-2283
Fax:    919-541^201
E-mail: zenick.hal@epa.gov
                                                                                                     Final: September 12, 2000

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      APPENDIX D
WRITTEN PUBLIC COMMENT
      STATEMENT
  pgaJs^

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This page left intentionally blank

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    An Open Letter from the United Church of Christ Commission for Racial Justice
     Presented to the National Environmental Justice Advisory Council during its
       General Public Comment Period at the Atlanta, Georgia NEJAC Meeting
May 23, 2000

Greetings NEJAC Members:

The United Church of Christ Commission for Racial Justice, as you well
know,  is no stranger to the environmental justice movement. As a part of
our ongoing commitment of ensuring environmental equity and justice for
poor and people of color communities, a delegation of pastors and church
leaders traveled in March to the island of Vieques, Puerto Rico.  There, we
witnessed firsthand the devastating effects of 60 years of this land being
used by the U.S. Navy as a target practice range. This has led to serious
human health effects and degradation of the natural environment for the
people of Vieques.  On May 4th, protesters were removed from the 14 civil
disobedience camps in the bombing area and in front of the gate to the
Navy facility. To date, many other arrests have occurred.

In an agreement made between President Clinton and Governor Rosello of
Puerto Rico on January 31,2000, without consulting the people of
Vieques, it was decided there would be a referendum with the following
two choices: (1) that the Navy would continue training with "inert bombs"
and leave in 3 years; or (2) that the Navy would stay for an indefinite period
of time and continue bombing. As of this writing, U.S. warplanes have
resumed bombing practice at the target range in Vieques. In the eyes of
those  of us in the religious community, by this action, President Clinton is
violating his own Executive Order on Environmental Justice. In effect,
making it not seem worth the 'chlorine free' paper it is written on!

Ongoing evidence of environmental degradation and injustice has been
demonstrated by several credible scientists, epidemiologists and
researchers who have found that:
•   Vieques suffers a 27% higher cancer case rate than the rest of Puerto
    Rico.
 •   Large scale ecological destruction has occurred as a result of over half
    century of bombing.
 •   Chemicals from the bombing area are transported by diverse means
    through civilian areas.
 •   Dangerously high levels of heavy metals and other toxic chemicals
    related to military activities have been found in the soil and water.
 •   Children attending schools near the bombing area often must dismiss
    early to accommodate the bombing.

-------
The United Church of Christ Commission for Racial Justice is urging the
NEJAC to call for an immediate and  full investigation to determine the
plans that are underway by the Environmental Protection Agency and other
Federal agencies to clean up the areas that have been affected by decades
of bombing, to address some of the related health problems, and to
continue to deny the U.S. Navy permission to conduct bombing activity
that results in discharges into bodies of water.

We, in the United Church of Christ, wholeheartedly support the struggle for
economic and environmental justice that is being waged by the people of
Vieques, and people of color in communities everywhere.  Our commitment
is to speak truth to power so that 'environmental justice will not roll down
like polluted waters, and environmental injustice like an ever flowing
stream9. We intend to be vigilant and vocal on this issue of  Vieques.
 tev. Adora Iris Le
 Ministei/for Envirj
 United Church of
ntal Justice

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