Transcript of  Proceedings
ENVIRONMENTAL PROTECTION AGENCY

OFFICE OF PESTICIDE PROGRAMS
ADMINISTRATOR'S TOXIC SUBSTANCES ADVISORY COMMITTEE
VOLUME II
Washington, D.C.

March 20,  1980
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    ENVIRONMENTAL PROTECTION AGENCY

    OFFICE OF PESTICIDE PROGRAMS

                                                          VOLUME  II

U   ADMINISTRATOR'S TOXIC SUBSTANCES ADVISORY COMMITTEE
 6  I                              Rooms M-3906-3908
                                 Waterside Mall
 7                                Washington, D. C.

 8  I                              Thursday,
                                 March 20, 1980
 9  |
                                 9:00 a.m.
10

11
              APPEARANCES:
12
              Dr. Selina Bendix, Chairperson
13
              Professor Michael S. Baram
14             Dr. Theodore L. Cairns
              Dr. Max Eisenberg
15             Ms. Becky F.  Moon
              Mr. Thomas W. Mooney
16             Dr. Edward P. Radford
              Dr. Louis E.  Slesin
17             Dr. William L. Sutton

18             Ms. Marsha Ramsey, Executive Secretary

19

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                            TABLE OF CONTENTS

                                                                Page
 3
    ECONOMIC ANALYSIS:   HOW ARE THE RISKS,  COSTS AND
 4  BENEFITS DETERMINED AND WEIGHED PRIOR TO MAKING
    CHEMICAL TESTING  AND CONTROL DECISIONS?
         Panel:
 6
               DR.  EDWIN CLARK
 7             Associate Assistant Administrator
               Office  of Pesticides and Toxic Substances
 8
               DR.  NICK ASHFORD
 9             Assistant Director
               Center  for Policy and Alternatives, MIT
10
               DR.  DAVID HARRISON
11             Council of Economic Advisors

12
    ASSESSMENT OF  TSCA
13  IMPLEMENTATION AND DIRECTIONS 	    94

14       By:

15             STEPHEN D.  JELLINEK
               Assistant Administrator
16             Office  of Pesticides and Toxic Substances

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                          PROCEEDINGS

              CHAIRPERSON DR. SELINA BENDIX:  At this time, I

 3   would like to call the meeting to order.

 4             This morning, we are going to have a panel of eco-

    nomists looking at the problems of economic analysis of the

 6   impacts of regulating or not regulating toxic substances.

 7             The panel will be chaired by Dr. Edwin Clark, Asso-

 8   ciate Assistant Administrator for the Office of Pesticides and

    Toxic Substances.

10             Next, to my right, is Dr. David Harrison, Associate

11   Professor of Economics at Harvard, now in the Council of Eco-

12   nomic Advisors in the Executive Branch.

13             Next to him is Dr. Nick Ashford, Assistant Director

14   for the Center for Policy and Alternatives at MIT.

15             Dr. Clark?

16   ECONOMIC ANALYSIS:  HOW ARE THE RISKS, COSTS AND
    BENEFITS DETERMINED AND WEIGHED PRIOR TO MAKING
17   CHEMICAL TESTING AND CONTROL DECISIONS?

18             DR. CLARK:  I volunteered to start this panel to

19   talk a little bit about what EPA and the Office of Pesticides

20   and Toxic Substances is presently doing in terms of economic

21   analyses; and then let Nick talk for a little bit about some

22   of the problems involved, particularly on the benefit side.

23             And then let David talk about what the regulatory

24   analysis review group, which is run by the Council of Eco-

95   nomic Advisors - what they would like to see done in terms of


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    these  analyses.




              I  also have a representative here from our Office




    of Regulatory Analysis who will answer any specific questions




    about  what we're doing.




              Sammy, maybe you should come up and sit in front here




    so that people can get at you quickly.




              Judy Nelson could not make it.




              TSCA,  as you are all aware,  is  what is called a bal-




    ancing statute.   It requires some sort of balancing of risks




    and cause or risks and benefits.  These terms are often con-




    fused, particularly when one talks about  benefit-risk weighing




    and benefit-cost weighing, or analyses, because the benefits




    in the benefit-risk comparison are actually the costs in the




    benefit-cost analysis.




              So this is going to be very confusing for a while,




    but maybe most of you know this already.




              Essentially, what we do is,  on  one side, we look at
    the risk associated with the continued use of a substance.




19   This is a risk to public health and to the environment.  These




20   analyses are based primarily on animal tests, epidemiological




21   studies, exposure estimates, et cetera.




22             And we compare those risks with the costs of con-




23   trolling the substance.




24             Now, the costs of controlling the substance are, to




25   some extent,, the benefits of controlling the substance and this






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 1   is where the confusion comes in when we use these terms, but




 2   what we're doing is essentially comparing the risk that will




 3   result from the substance's continued use to the costs asso-




 4   ciated with controlling the substance.




 5           .  The risk side, at this point, is primarily a scienti-




 6   fie process, making scientific estimates of the risks as I say




 7   based upon the epidemiological studies, whatever evidence there




 8   is like that we can find, and these are compared then to a




 9   cost which is developed through the regulatory analysis.




10             Typically, these cost estimates of the regulatory




11   analysis start with an estimate of the compliance expenditures




12   that will be associated with a particular regulation.  This




13   while process was developed in EPA with the more traditional




14   programs: the air pollution control, the water pollution con-




15   trol programs.




16             We have, for the most part, taken this methodology




17   developed for these regulations and tried to transfer it over




18   into the area of toxic substances control.  It is not directly




19   transferable, as I will discuss a little bit at the end.




20             we have different sorts of problems and we are in a




21   process of trying to develop appropriate methodologies to deal




22   with these problems, but let's start with the way, then, we




23   are transferring it.




24             You're saying, "Okay, we're going to regulate.  We're




25   going to issue a regulation."  Let's take an example, toxic






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 1   substances.




 2             This  regulation  might  be  a  labelling regulation.   We




 3   will  estimate as  a  cost, versus  the cost of just putting the




 4   labels  on  the cans,  how much is  on  the  containers.   How much




 5   is  this going to  cost,  outlays and  expenditures by  the firms?




 6             Primarily,  we go into  this  usually by hiring a con-




 7   tractor who is  familiar with the industry.   This contractor




 8   may or  may not  -  depending on the knowledge available to it,




 9   the information available  to it  - may or may not go out and




10   interview  firms to  find out what they think the cost' will be,




11   but will nevertheless try  to come up  with an independent esti-




12   mates of these  costs.




13             We also have  to  look at the benefits that the sub-




14   stance  will provide.   Now,  labelling  is not a good  example  of




15   this.   Our pesticide regulation  would be a better example or




16   if  we were to regulate  something like asbestos that would be a




17   good  example.




18             But the benefits that  the substance provides our




19   society that will not exist if we restrict its use, now these




20   benefits are limited by the cost of substitutes for them, for




21   that  substance.




22             For instance, if we regulate  asbestos and we can




23   estimate that the use of asbestos --   I am not putting forth




24   a hypothetical  analysis.   I wouldn't  say that we've done this




25   one.






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              Say we decided to regulate asbestos and one of the




    uses of asbestos was to control a fire in buildings - keep




 3   buildings from burning down - then we could estimate the in-




 4   creased incidence of buildings burning down if there were no




    asbestos, and then we could then put a cost on the loss to our




 6   society from the increased number of buildings that would burn




 7             That would be the maximum cost associated with that




 8   regulation; however, there would probably be substitutes for




 9   asbestos in the control of fire.  So the limit on the com-




10   pliance of these costs would be the cost of using a substitute




              So these are two types of costs that we will esti




12   mate directly: the actual expenditures by the firm, and the




13   benefits of the substance in use.




14             Once we have these cost estimates, we then try to




15   look at how they will impact our economy and the industry be-




16   ing regulated.  We will try to look at the likelihood of firms




17   closing because of this.




18             We will look at price increases in the industry and




19   estimate those, the impact on inflation so to speak. Particu-




20   larly under TSCA, we look at the impact on small firms.  This




21   is a particular requirement, to look at that under TSCA, whe-




22   ther small firms will be particular hard-hit.




23             And, under TSCA, we have this requirement to look at




24   the impact on inflation.  That is one of the areas where we




25   have substantial difficulties because we don't understand very





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much about the inflation process.

          We will get all these costs together and this will

provide some basis of our regulatory analysis which is on the

cost side of these —  Well, the benefit side, whichever way

you look at it.  It's

          It's a benefit, on the benefit-cost analysis side,

or it's a cost on the benefit-cost analysis side.  That, of

course, is not the basis of our regulatory analysis under TSCA,

but it is not all we're doing in terms of economic analysis.

          We are spending a fair amount of time looking at

economic incentives associated with regulating toxic sub-

stances.  You were given a report this morning which summar-

ized a retreat that the senior officer from TSCA had last sum-

mer.

          One of the conclusions that came out from that re-

treat is that we had to emphasize and analyze very carefully

the potential for providing economic incentives to the industry

to essentially do what TSCA wants them to do.

          So that is one of the areas that we are involved in.

          Another area is looking at the whole question of

innovation, a very difficult question.  What is innovation?

How to we effect it?  How can we reduce these effects?  And

things like that.

          They got involved in a number of other policy-type

analyses.


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              That very briefly summarizes that side, and I'll let




    Nick go on and talk about some of the problems of estimating




    some of these economic analyses.




              Nick?




              DR. ASHFORD:  Should I  talk about 15 minutes or so?




 6             I think that the prime  motivation for requiring eco-




 7   nomic or regulatory analysis is accountability of the agency




 8   for regulating toxic substances:  the accountability in terms




 9   of whether it has been regulating a particular hazard to the




10   extent that the Act - in this case TSCA - requires; and, se-




ll   condly, whether it's choosing the right kind of hazards to re-




12   gulate in a world where many more hazards are regulatable than




13   can be regulated.




14             I think the debate over cost-benefit finds different




15   prejudices that people feel about the accountability of this




16   agency and other agencies.  I think those that tend to demand -




17   I say "tend", it's not a hundred percent corrolation - tend to




18   demand rigorous analysis come to this area with a prejudice




19   that the agency doesn't know what it's doing and is not using




20   public funds wisely.




21             Those that tend to resist that kind of analysis say




    that the analysis costs money, delay regulation, and could be




23   better spent - they, too, are cost-effective conscious, but




24   it could be better spent moving on with regulations rather




25   than try to tune a system that doesn't fine tune.






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 l             I think there are  some methodological  problems  in




 2  I cost-benefit problems  that you could  exercise  to provide  fine-




 3   tuned  guidance as to how  to  regulate  a particular substance or




 4   what to regulate just  is  not possible.




 5             I am not going  to  pound my  fist  on the table  and  say,




 6   "You can't value a human,  life."  It's immoral  and all the other




 7   arguments  with which I have  sympathy  or  empathy.  But talk




 8   about  the  fact, when you  really  sit down to do the analysis,.




 9   you run into such immense problems of two  kinds  that it really




10   becomes an analysts' game and a  reflection of  the analysts'




11   prejudices.




12             The two problems are:  one,  that  the  data just isn't




13   very good; and, number two,  that there are methodological dif-




14   ficulties  which, in order to overcome, require that you make




15   certain assumptions, and  those assumptions are can take such




16   forms  that the analyses can  really come  out any way you want




17   them to. .




18             I will try to be specific without being too technical




19   Let me work a word about  costs and then, because Toby pretty




20   well covered it, move  to  the issue of benefits.




21             The issue of costs is  difficult  because the data  in




22   terms  of compliance costs mainly derives from  the sector  that




23   is  likely  to be regulated.   I'm  not being  too  unkind, I think,




24   if  I say you would think  there was a  certain upward bias  in




25   those  estimates.





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              But more to the point,  bias aside,  is that in any of




    these estimates - and I have looked at hundreds, virtually, of




    the so-called economic impact statements that have been per-




    formed by agencies over the last few years -.you don't find




    economies of scale taken into account in the  total cost.




              You don't find the issue of a learning curve, which




    is the ability of an industry to comply more  effectively as




    they learn how to control a particular hazard.




 9             Most importantly, you don't take into account the




10   technology-forcing aspect of a particular regulation that




11   gives rise to a different kind of technology  of three kinds:




12   new kinds of direct-control technology, which is what the con-




13   trol business is about; and, secondly, process redesign tech-




14   nology; and, thirdly, the coming to market and development of




15   substitute products.




16             Now, mind you, we're talking about  costs as being in




17   a transition period when virtually no costs were being ex-




18   pended by the firms to control many kinds of  pollution to a




19   time when it would be built into the plant design and product




20   design.




21             We're in a transition period, and we're making up




    for lost time and the money we spend is going to be very dif




23   ferent than what it will be the next time around.




24             Yet the economic impact assessment tends to focus on




25   that transition period and the estimation of those costs with





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 l   all  the  problems  that  emerge.




 2             Now,  before  I  go  to  the  benefit  side,  let me make




 3   some more  points.




 4             One  is:   Whenever you  compare  costs  and benefits  for




 5   a  particular regulation  and approach,  you  can  never do that in




 6   the  abstract.   You would have  to ask:  What would have hap-




 7   pened with vinyl  chloride?   What would have happened with lead




 8   had  EPA  or any other agency not  taken  its  particular action?




 9             And  the pharmaceutical regulation is a case in point.




10   It turns out that most of the  money that may have been expended




11   to demonstrate safety  would have been  expended anyway by the




12   firm; and  when you ask what the  costs  of a particular regula-




13   tion, you  have to say  costs again  what?  Against what would




14   have occurred  with fear  of  products liabilities suits?




15             When you compare  the EPA and the ambi-inhalant stand




16   ard, you have  to  ask:  If there  were no  standard, what kind of




17   costs would have  been  expended by  the  firm in  complying with




18   the  OSHA lead  standard which required  process  redesign?




19             So it's not  fair  to  do an economic impact on the




20   ambient  air and then 'do  one for  the OSHA lead  standard, and




21   then add those two things together. Not only  is that wrong,




22   you  have to create a baseline  that is  sensible.




23             The  second point is  that the real effect of these




24   regulations is to force  and develop new  development, and the




25   beneficiaries  of  the regulation.





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 1             If we were faced with a model that most pollution in




 2   the toxics area was really trying to remove the last five per-




 3   cent of the toxics, we are now in the point of diminishing




 4   returns.   One would say you have to draw the. line somewhere.




 5             But the truth of the matter is, very little is regu-




 6   lated that ought to be regulated on scientific grounds and




 7   that, for a long time - a decade or more - we will likely be




 8   able to redesign project technology, generate new products




 9   which will benefits the firms substantially and lead to lower




10   citizen and work protection.




11             We are on the lower part of the curve, not the point




12   of diminishing returns for most of the toxics that are really




13   of serious concern today.




14             I think the facile assumption that we've gone as far




15   as we can go and we have now reached that point ought to be




16   looked at.




17             What about the issue of costs and benefits?  There




18   had been a time when benefits - which is reduced disease, suf-




19   fering, psychic loss due to deteriorated environment - were




20   estimated in terms of market signals that gave evaluation in




21   terms of dollars.




22             In the workers' situation, people talk about hazard




23   pay as measure of risk of acceptable exposure to toxic sub-




24   stances.   I think the time is rapidly diminishing when the




25   people really have much faith in the dollar evaluationof the






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    health  costs  and  so on.




              They  realize  they're  trying  to  monetize  benefits in




 3   comparing  them  to costs and  asking  whether the  benefits exceed




 4   the  costs  is  not  a very acceptable  market measure.




 5             What  has succeeded the  comparison of  benefits and




 6   costs  in terms  of dollars  is the  magic benefit  to  cost ratio.




 7   At  first glance,  it's appealing.




 8             Take  something like NHTSA, National Highway and Traf-




 9   fie  Safety Administration,  the  number  of  talleys per dollar




10   expended.   Why  shouldn't we  try to  maximize the benefit to




11   cost ratio?




12             Here  we have  two different concepts coming in.  We




13   have cost  effective criteria, or  health and safety effective-




14'   ness criteria.




15             Cost  effectiveness type criteria means really, tech-




16   nically, the  following:  Given  that you want to reach a cer-




17   tain target of  fatality reduction,  let's  see if we can mini-




18   mize in doing something in health effectiveness or safety




19   effectiveness.




2°             In  other words,  hold  it constant and minimize the




21   costs  with cost effectiveness.  What you're trying to do is,




22   given  a given expenditure that  the  agency is given of that it




23   can impose upon an industry, how  much  health can you get for




24   the bucks? You maximize the benefits  to  be derived.




25             That  sounds manifestly  sensible except when you even





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as uncomplicated as traffic fatality prevention, then you




realize it's not just the number of fatalities.  It's the




number of serious injuries, disfigurement.




          On the benefit side of the ratio, you have to start




to ask:  How many serious injuries is a fatality worth?  Five?




Five serious injuries equal a fatality.  How do you relatively




rank the different kinds of health and safety consequences?




          And you find there is no real magic rule.  There is




no unified theory which allows you even to aggregate the ben-




efits so that you can make a sensible comparison.




          The glaring example of failure to look in a sophisti^




cated manner is with the OSHA benzene provision.  Well, it's




not just cancer deaths from benzene, but it's other kinds of




blood disorders.  It's pain and suffering.




          These are the things that just haven't lent them-




selves to the consensus in terms of evaluation.  So it be-




comes very difficult.




          The second thing that is really difficult is:  On




the compliance cost side, while it may be possible, let's say,




to calculate for the industry what complying with the one part




per million standard of toxic substances would be, you can




generate a curve, a probability curve as to what the variation




from compliance costs would be.




          You get a rather narrow curve.  That is, you can




estimate compliance costs within a fairly narrow range.  How





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 1   about  the  number  of  cancers  prevented  from benzene  exposure?




 2             You  can take  a  simple-minded view of the  world and




 3   use  a  linear extrapolation theory,  and you get a single number,




 4   a  single point estimate.   But  the  trouble  is,  anybody who




 5   knows  epidemiology and  toxicology,  the complexity of the real




 6   life situation, where other  hazards exist, where there are




 7   predispositions in some cases  to disease,  where there's a




 8   history of past exposure  —




 9             Remember,  we're in a transition  period where there




10   are  disease mechanisms  of many kinds operating.  Do you real-




11   ize  a  single model giving rise to  a single point estimate,




12   which  is analogous to a compliance cost estimate, is really




13   fraught with great difficulty?




14             The  truth  of  the matter  is,  if you were to draw a




15   curve  which will  demonstrate the risk profiles compared to the




16   cost profiles  to  comply with the one part  per million standard,




17   it would be from  theoretically grounds, from mechanistic




18   grounds, from  computation grounds  very broad indeed.




19             And  the truth of the matter is you can never really




20   get  the curve.




21             It may  be  that  the most  likely estimate,  most likely




22   single point estimate in  the number of cancers from one part




23   per  million exposure to benzene is five lives per year, but




24   with the taking of previous  exposures the  number could probably




25   be five hundred parts per year.





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 1             It's not the most likely possibility,  but what do




 2   you do faced with a situation that there is a five percent




 3   chance that it might be five hundred deaths per year.  You see




 4   it's no longer a single point estimate and you can't get the




 5   data.




 6             What you can say, perhaps, is that exposure to lead,




 ^   which is a classic toxin,  might give you a narrower range of




 8   uncertainty on the health effect than carcinogens.  You might,




 9   you might not.  Different toxins are different.




10             But it really does require - I've done this in great




11   detail, it's hard to do - require a tremendous knowledge of




12   multiple exposure that people are exposed to.




13             The mobility of populations out of a polluted or work




14   area, age differences, sex is a determinant, in some cases, of




15   disease - smoking habits,  lifestyle, alcohol - and it is very




16   difficult.




17             I must recall to you, there was a panel that sought




18   to look at all the data that has been accumulated between air




19   pollution and mortality and morbidity; and the conclusion of




20   that intense look by a panel of experts is that they have made




21   so many assumptions and not controlled for so many variables




22   that there is not very much we can do about the relationship




-3   between air pollution and disease, and we've been doing these




24   studies and spent millions of dollars on them for fifteen




25   years.





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 1             Now,  what do  you do  then?   Do  you just throw your




 2   hands up  and decide to  be  arbitrary?   No.   The answer is:   No,




 3   you don't do that.




 4             We know from  animal  experiments  that there are some




 5   very powerful toxins out  there.   There are around two hundred




 6   carcinogens that very few people would disagree need some sort




 7   of regulation.   There are classical  toxins that have special




 8   limits set for them because they were set  on the basis of




 9   acute exposure and animal  exposure.




10             We have in the  order of a  thousand materials in com-




11   merce today that will take all the resources for many, many




12   decades to regulate if  that's  the mechanism of control.




13             Now,  faced with that difficult decision-making part,




14   what does an agency like  EPA do?  Does, it  conduct benefit-cost




15   calculations to decide  which is the  priority list?




16             I think not.  :i  think you  can't  do that.  I think




17   what you'll have to ask is: What is the real impact and what




18   is the real benefit to  be derived from regulation?




19             There are two.   One  is to  legitimize, in the eyes of




20   the regulated and the general  population,  the fact that real




21   problems  are being addressed,  that we're going after whales




22   and not minnows.  I don't believe we're going after minnows.




23             I think we're really going after some of the serious




24   problems.




25             The second thing you have  to do, you have to give a






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 1   signal to the industrial establishment that it's time to re-




 2   design an industrial plant, to redesign an industrial process




 3   and there are tremendous market opportunities for penetration




 4   in international competition for .an industry that is ingen-




 5   eous.




 6             We had Monty Thodow at a conference a few days ago




 7   stand up and volunteer that they think regulation has created




 8   market opportunities for the company, and they think it is




 9   about time that they got about the task.




10             I think this evolution in attitude is occurring cer-




11   tainly among some firms, not as many as we would like; but the




12   leveragine effect of giving enough signals to enough of the




13   sectors, not just the chemical-using industry, is really what




14   the payoff of regulation is about.




15             Now, if you do a benefit-cost analysis and construct




16   a benefit-cost matrix, what you can put in there and what re-




17   quires some faith and judgment and art is the answer to the




18   question:  If you regulate benzene, will you have compliance




19   with toluene and xylene?




20             Will the people who could produce vinyl bromide be-




21   gin to control without regulation?  The answer is yes.,  So




22   even if the benefit-cost matrix doesn't look so attractive fron




23   a particular substance perspective, if it leverages in an anti-




24   cipatory way - and, by the way, in a cost-effective way be-




-5   cause each firm has come to do what it needs to do for most of
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 1   the  substances that are not regulated  -  then you  really  have a




 2   payoff.




 3             I can't  calculate the payoff any more than  you can




 4   calculate  what the Internal Revenue  Service managed to encour-




 5   age  in terms  of  voluntary  compliance by  its selective auditing.




 6   You  certainly couldn't compute all the fines that people have




 7   paid for violating IRS rules  and  say,  that's the  payoff.




 8             That's now much  dishonest  reporting we  managed to




 9   catch; and the value of the agency is  that there's a  tremendous




10   amount of  voluntary and participatory  activities,  and that is




11   the  real point.




12             How does an agency  regulate?  Let me  suggest that  it




13   should look at how many different sectors it is affecting,




14   where the  chances  for real improvement are, where the indus-




15   tries are  that have not been  innovative  and stand a chance




16   either to  be  innovative themselves or  to be replaced  - yes,




17   replaced - by new  entrants, new products.




18             And that is why  we  need to move the economy ahead  in




19   terms of producing sensible kinds of products and product




20   exposure.




21             And, now, given  what is necessarily a very  broad view




22   and  which  is  difficult to  justify except by looking at the few




23   cases in which regulation  has occurred,  I would find  it  dif-




24   ficult as  an  analyst to stand in  front of the Council of Wage




25   Stability  and say  how many dollars in  terms of  health costs





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 l   saved or how many bodies did you save in terms of benzene regu-




 2   lation under the OSHA Act?




 3             To give you an example, the tremendous leveraging




 4   effect gave rise to a regulation that said, workers have a




 5   right to refuse hazardous work.  Well, that means that people




 6   in the workplace who objected to dangerous hazards have a




 7   right to refuse to work .with that substance.




 8             That's the effect of OSHA regulation.  That behavior




 9   alone can do more than any single regulation ever issued,




10   argued about or having a cost-benefit equation.




11             So I've termed cost-benefit analysis in other places




12   a paradigm in a closet; and the reason I say that is because




13   what goes outside is not looked at, and what you looked at in-




14   side is to beset by darkness that really no rational approach




15   can give rise to guidance for an agency.




16             i believe in accountability.  I believe in laying




17   out the ranges of uncertainty'of the kind of health effects




18   you think you can have, but if you devote too many resources




19   to that you'll be going after an ant with a sledge hammer and




20   you're not going to get where you want to go.




21             I've said this many times.  I just question con-




22   tinually the continued demand for rigorous analysis, not




23   accountability.  I applaud the demand for accountability and




24   if this is a way of getting accountability that may not have




25   been there in earlier times, okay.






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 l             But  I  think  we  have  to  move  away  from analytical

 2   techniques and I've  done  these analyses.  They just  don't yield

 3   very  useful results  in too  many cases.

 4             DR.  CLARK:   Given a  short  summary of what we're doing

 5   and what Nick  thinks can  be done,  then I  thought we would have

 6   David talk for a few minutes about what the- Regulatory Analysis

 7   Review Group would like to  see done.

 8             DR.  HARRISON:   Let me just spend  a couple of minutes

 9   summarizing what the Regulatory Analysis  Review Group - or,  as

10   it's  often referred  to, the RARG  - is  and give a couple of

11   examples of what kind  of  analysis we would  like to  see done.

12             I will say that my general impression is  the kinds

13   of things we would like to  see done  are not very different  from

14   what  Toby has  described;  and I think,  in  many ways, not very

15   different from the kinds  of accountability  that Nick has de-

16   scribed.

17             But  let me basically describe what the group is.

18             What it is is an  inter-agency group that  consists  of

19   several representatives from within  the Executive Office of

20   the President  and representatives of eleven major Executive

21   Branch departments that are responsible for implementing eco-

22   nomic and regulatory policy.

23             The  group  was established  by the  President in con-

24   junction with  the promulgation of Executive Order 12-044, at

25   this  point a well-known Executive Order,  and the task of the


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    Regulatory Analysis Review Group is to review, during public




    notice and comment period for proposed regulation, a relatively




 3   small number of regulations.




 4             One of those is review the regulatory analysies that




 5   Toby mentioned are required by this Executive Order 12-044.




 6   AS was suggested, most of the staff is from either the Council




 7   of Economic Advisors, which is a small group, of the Council




 8   on Wage and Price Stability which has a somewhat larger staff




 9   for this purpose.




10             The RARG  is  chaired by the Council of Economic




11   Advisors and the person with primary responsibility - member




12   with primary responsibility is George Eads right now.




13             The RARG has an executive committee that is made up




14   of four members: two of them are permanent, one is representa-




15   tive of the Council for Economic Advisors, and the other per-




16   manent representative is from the Office of Management and




17   Budget.




18             The other two members are rotating and the way the




19   rotation works is that at any one point in time one representa-




20   tive from an economic agency and another representative of a




21   regulatory agency; and, right now, the current rotating members




22   are from the Department of Labor and from EPA.




23             So, right now, EPA has a representative on the Exe-




24   cutive Committee.




25             in addition to the regulatory agencies, there is






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    also  representatives  from the  Office  of  Science  and Technology




    Policy  and  the  Council  on Environmental  Equality,  and also the




 3   domestic  policy staff.




 4            Well, what  the  Executive  Order requires  is, as  Toby




    I  think has suggested,  that agencies  do  regulatory analyses of




 6   major regulations.




 7            Now,  the  Executive Order  defined major regulations




 8   as at least those regulations  that  impose a hundred million




 9   dollars per year, and there are other procedures the agency




10   has developed,  including  EPA,  to implement the Executive  Order




    and define  under what circumstances they will  do a regulatory




12   analysis.




13            EPA has a set of procedures that are thought to be




14   very  good in terms  of defining process for reviewing major




15   regulations and for doing regulatory analyses.




16            Now,  the  formal mechanism for  the RARG review is




    that  when an agency issues its Notice of Proposed  Rulemaking




18   it also issues  a draft regulatory analysis and the executive




19   committee will  vote to decide  whether to review  the draft




20   regulatory  analysis,  and  the mechanism is a requirement that




21   two members of  the  executive committee vote to do  a regulatory




22   analysis.




23            Then  a Notice of Intent to Perform a RARG Review is




24   sent  to the agency.  There is  a list of concerns that are sent




25   to the  agency and the agency then can suggest that the list of





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    concerns ought to be supplemented or clarified.'in some way so

    that there is a procedure of making sure that the issues RARG

    focuses on are the issues that the agency think are relevant.

              Then, as the RARG draft is prepared, it is submitted

    to all RARG members, this, entire group consisting of the re-

 6   gulatory agencies.  Any dissenting views are incorporated in

 7   the final version and the RARG document is then placed in the

 8   public comment, in the rulemaking record before the close of

 9   the comment period.

10             Now, I might just mention that one of the —  You

11   ask, how does the RARG go about selecting various candidates

12   for review?  One of the things that has been very useful is

13   that we now have a calendar of federal regulations that pro-

14   bably most of you are familiar with that the regulatory coun-

15   cil puts out.

16             it will prescribe the menu of future regulations,

17   and there is some sense that that document provides what regu-

18   lations are important and so forth.  But in decided which to

19   review, we basically look at which regulations we think are

20   those of which our review could be most useful.

21             I should point out that the primary purpose of RARG

    is not to do a regulatory analysis because there are a very

23   small number of reviews that we actually undertake each year,

24   but to improve the agencies' rulemaking and regulatory pro-

25   cess.


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 1             So  we like  to  choose  regulations where we think our


 2   involvement could have  some  useful  impact.


 3             One criteria might be large cost of compliance.  So


 4   given the gigantic number of possible regulations to review,


 5   one criteria  would be the size  of the sectoral impact.   But we


 6   also might review regulations that  were relatively small or


 7   their economic impacts  were  unknown,  but when the particular


 8   regulation would have a  presidential  value.


 9             For example,  recently we  reviewed the EPA's regula-


10   tions on effluent guidelines for the  leather tanning industry,


n   which is the  first in a  series  of regulations on water effluent


12   guidelines, particularly regulating toxic substances.


13             And the leather tanning industry was chosen for the


14   focusing of the review  because  it was a first, and presumably


15   the methodology used  in  that first  one would be carried over


16   to others.


17             We  have also  recently reviewed EPA's air cancer pol-


18   icy for ;which there was  no formal regulatory analysis done be-


19   cause it was  thought  -  I think  it is  correct - possible to


20   quantify the  costs and  the benefits of the regulation and its


21   alternatives, but that  that  policy might have an influence in
                                                                /

22   subsequent regulations.   It  might have a large influence.


23             i should also  point out that one of the restrictions

                                                     j
24   on the Regulatory Analysis Review Group is that it does not


25   review more than four regulations for any one agency in a year



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    So that the total number of regulations,  the maximum, was




    placed at 20.




 3             So you can imagine,  there is a  relatively small




 4   number of regulations actually subject to review by this RARG




 5   procedure.




 6             Well,  Toby suggested that I mention some of the




    issues that come up and the recommendations that tend to be




    made in these reviews.




 9             MR.  BARAM:  David, before you go on, you said there




10   were for EPA,  four reviewed by RARG out of 20, no more than




11   four,  but you have a sister which also does economic analysis




12   of proposed regulations on virtually any regulation they




13   choose to focus on.




14             Is that right?




15             DR.  HARRISON:  That's right.




16             MR.  BARAM:  And they are under  the White House and




17   part of the Executive Order function.




18             DR.  HARRISON:  The Council on Wage and Price Stabil




    ity has a mandate.  They have a mandate under presidential




20   order of some sort to provide —




2i             MR.  BARAM:  Additional economic analysis.




22             DR.  HARRISON:  What I am describing is the RARG pro-




93   cess.




94             MR.  BARAM:  When they also continue to be involved




25   in these analyses of proposed regulations, also?






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          DR.  HARRISON:   OMB is the other permanent member of




the executive committee  or RARG, so that it's involved in any




decision.  It has a vote in any decision, whether to do a RARG




review or not.




          Well, what might be some of the issues that seem to




come up?




          First of all,  let me say that what these RARG re-




views tend to focus on is methodological issues rather than




issues of cause or interpretations of scientific data. . We will




sometimes ask for guidance or support from the Office of




Science and Technology Policy or the Council on Environmental




Quality on wome of the issues.




          But typically the RARG might point out that there




appeared to be large variations in the costs or the effective-




ness on the part of an agency or various industries or other




interested groups, such as environmental groups.




          But we typically would not come to any conclusions




on what the right costs were or what the right interpretation




of various scientific data was, and that makes sense given our




small staff - and it is a small staff that's involved in this *-




and the fact that our expertise in not in those areas.




          The second thing is that, in terms of methodological




issues, my sense is that the overwhelming methodological issue




has to do with cost effectiveness.  My impressions of that are




based largely on the evaluation of EPA's air cancer policy and





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 1   the toxic water regulations,  which are the RARG reviews I had




 2   primary responsibility for.




 3             To take examples,  those are cases where one is regu*--




 4   lating a great many substances,  a great many sources of those




 5   substances,  and the question is:   Is there a way to determine




 6   roughly some sense of rough consistency among the various




 7   regulations?




 8             As it's reflected in the regulatory analysis, does




 9   it encourage that sort of rough consistency?  TO the extent




10   that the data is available,  is it used in a way that would




11   encourage that kind of relatively consistency?




12             What you really want to do is avoid situations where




13   you're spending a high cost and getting relatively little for




14   it, or you want to encourage cases where there are low-cost




15   options that may not be taken full advantage of for increasing




16   the benefits of various sorts of environmental - or other.




17             Another review that is already review going is public




18   transportation regulations on fuel economy for trucks.  The




19   same sort of issue comes up:   Are we encouraging a cost




20   effective regulation to increase fuel efficiency in the general




21   automotive vehicle fleet?




22             So what one wants to do, I think, is to avoid rela'--




23   tively inflexible rules and automatic responses, given the




24   existing information.




25             I think Nick has alluded to some difficulties of






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 l   collecting  information on  some  of  these  problems  and it is




 2   very  clear  that  there are  difficulties and  this  should not  be




 3   interpreted ."— at least,  the  RARG reviews I've  been  involved




 4   with  make it  clear  that  this is not  a council  of  perfection.




 5            One doesn't have in mind trying to  squeeze out ever




 6   conceivable ounce of benefit and make everything  completely




 7   internally  consistent.   That is now  what is involved.   Given




 8   the uncertainties in these areas,  it's not  possible.




 9            What one  wants to  do  is  to organize  the data in a




10   way that allows  one to make  the best use of it.




11            A second  issue that often  comes up  is  the distinc-




12   tion  that is  made between  resource costs and what are some-




13   times referred to as economic impacts where the  economic




14   impacts  focus on issues  like firm  closures  and the  possibility




15   of some  unemployment generated .-




16            Now, our  defense is that while closures and unem-




17   ployment might be one aspect of various  regulations one might




18   want  to  look  at,  that there  ought  to be  some measure of the




19   resource costs as opposed  to focusing on economic impacts.




20            So,  for example, we don't  think it  is  appropriate




21   to only  regulate so far  as to avoid  any  either plant closures




22   or unemployment  as  a result  of  any particular  regulation,




23   although that factor ought to be  included in  the  overall




24   analysis.




25            Another issue  that comes up is the  treatment of






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 1   alternatives.   Toby mentioned some possibility of using eco-




 -   nomic incentives as one major type of alternative, but there




 3   are other alternatives that one would want to explore.




 4             For  example, looking at the regulation of benzene




 5   from a particular source category, does one look at a variety




 6   of levels of control and evaluate their cost benefits and make




 7   the analysis as explicit as possible?




 8             I guess,  finally, my sense that in terms of improving




 9   agency regulation,  that there would be substantially more




10   agreement on appropriate regulations and appropriate regulatory




11   analysis than  might be apparent when the issues are quite gen-




12   eral.




13             That is,  is economic analysis at all useful?  Does it




14   have underlying value judgments that are difficult to believe




15   in all cases?




16             If you actually get down to examples of regulatory




17   approaches, you might get much more agreement than disagree-




18   ment.  Frankly, one of the things that we did in reviewing




19   EPA's air cancer policy, we asked the agency whether they could




20   give us an example of how the policy might be implemented in




21   practice; and  they suggested - they encouraged us to look at




22   benzene as a possible case study, arid their procedures for




23   looking at various source categories for control and for regu-




24   lating one particular source category which happens to be ben-




25   zene from hydraulic plants.






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 l             And  our  sense  for  doing  that  review -  after having




 2   gone  through some  suggestions  for  how those  regulations might




 3   be  structured  -  is that  I  suspect  there is  far less agreement




 4   that  one  ought to  look at  the  costs  and benefits,  comparing




 5   the cost  benefits  of  various source  categories,  for example.




 6             Another  thing  that came  up on this, there are, in




 7   fact,  eight nyla hydrid  plants that  would be subject to control




 8   It  turns  out if  one looks  at the cost benefits of  those various




 9   eight plants,  most of the  benefits come from regulating one




10   particular plant which happens to  be located in a  relatively




11   densely populated  area.




12             So that  one issues comes up:   Ought one  to, in some




13   sense, concentrate more  of the control  effort on that parti-




14   cular plant and  perhaps  go to  other  source  categories rather




15   than  the  other seven plants  where  the controls are rather small




16   and the costs  are  rather large?




17             I think  there  is some sense that  one could do that




18   within the context of EPA's  mandate  for, by example, defining




19   different source categories  to include  plants located in dif-




20   ferent population  exposure areas.  And  that is only one example,




21   I think,  where one might have more agreement on the applica-




99   tion of these  principles than if we  tried to argue something




93   at  some relatively abstract  level.




24             I think  those  are  some of  the issues that have come




95   up  in some of  the  RARG reviews, and  some of the principles






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 1   that we think would be usefully demonstrated in the various




 2   regulatory analyses.




 3      .       DR.  AvSHFORD:  Could I just make a comment because I




 4   think it's really instructive to show how one focuses onto




 5   different parts of the problem and be persuasive,  in either




 6   case, if you hear either argument alone.




 7             This benzene statement, the EPA posture - what David




 8   said - has an immediate appeal.  You can get more health for




 9   the bucks by going after the few sources than the ones that are




10   really expensive.




11             Let me say that is a beautiful example of a static




12   field, of the way you approach the problem because any cost




13   effective criteria merely rubber stamps the present economic




14   arrangement between the firms in terms of their competitive




15   structure and between the users, the producers, the consumers,




16   and workers.




17             If you.impose the heavy costs on those sources that




18   are not efficient compilers, what will happen dynamically?




19   You will raise the cost of those products, for those producers




20   to be less competitive, eventually have them replaced by the




21   low cost compilers; and that is what it's all about.




22             if you excuse, in the basis of present economic abil




23   ity to comply, those high cost compilers, you will never have




24   a reintroduction of different technology.  You will not shift




25   the prizes of industrial production to those firms that really





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 1  deserve  it.  The people who anticipated  problems  and  have  low-




 2  ered  their expenditure costs,  and now are  leaders  in terms  of




 3  technology ought  to be the ones  who  are reaping  benefits.




 4            And  by  saying,  you  - the firm who  has  done,  already,




 5  so much  on your own - it  isn't going to cost you very much  to




 6  take  your benzene down, but we are going to  excuse the firm




 7  who hasn't done a damn thing  for ten years on the  basis that




 8  it costs a lot of money.




 9            MR.  MOONEY:  Is that what  Dr. Harrison just said?




10            DR.  ASHFORD:  No.   I think the high cost sources  of




11  controlling  benzene ought not to be  cut off  on the basis  that




12  it's  cost ineffective.  If you want  to  move  those  people  out




13  of business  or to give a  clear signal.that next  time around




14  it's  not going to pay you to  wait -  and that's a dynamic  view




15  of industrial  - then you  can't use this technique  to make that




16  kind  of  division.




17            DR.  HARRISON:   Let  me  respond because  I  think that




18  raises what, in theory, would be a useful  point  and  one would




19  want  to  do some analysis  on that issue.




20            in fact, in this particular benzene case,  it's




21  actually the opposite of  the  case I  described in the sense  that




22  the high cost  and low benefit cases  were those plants with




23  already-adopted controls, and the nature of  the  controls  that




24  would be required by the  regulations would essentially have




25  eliminated the advantages of  those previous  controls.





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 l             So,  in fact,  in this particular case - and I think




 2   there is something to the general issue that he raises in this




 3   particular case - the high cost,  low benefit compilers were




 4   those firms,  those plants that had already controlled to




 5   roughly 90 percent, and the controls that were being con-




 6   sidered were  97 percent.




 7             And the best guess was that this previous control




 8   would not be  of much value in getting to the 97 percent level.




 9   So they would essentially have had to have gone to a completely




10   different kind of control mechanism essentially eliminated the




11   advantage to  them.




12             So  I think, in this particular case, it didn't work




13   out in terms  of empirical questions.




14             I think that is the sense in which my overall judg-




15   ment in a lot of these, there might be agreement on the general




16   way in which  are not to do some of these analyses, and a lot




17   of these cases are empirical questions.




18             And that is why we would like to see the analysis




19   explicit on some of the issues raised.




20             I don't think - this is my personal view - that




21   cost effectiveness is the only aspect that ought to be included




22   in a proper .regulatory analysis.   It is, however, an important




23   aspect; and,  where it is not taken into account, I think the




24   regulatory analysis could be improved.




25             CHAIRPERSON BENDIX:  Mr. Mooney?






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 1            MR. MOONEY:   It was  just  on  the  last  point.




 2            Perhaps  I don't understand your  jargon,  but  it seems




 3   to me  what  Dr.  Harrison was  saying  was exactly  you had in mind:




 4   in fact,  a  reward  for  those  companies  who  had moved out ahead




 5   to do  something without a regulatory club  over  the head.  And




 6   the  company that had  failed  to do  so was going  to  get  zonked




 7   with a very focused regulatory requirement for  control.




 8            DR. ASHFORD:   I think, though, that would be the ex-




 9   ception,  really, to the general rule.   David might even want to




10   comment on  it.




11            In point of  fact,  if you  look at the  lead problem,




12   people who  really  have the high compliance costs facing them in




13   lead are people who have done  very  little  in the past.  This




14   may  be true for benzene.




15            I won't  argue the  case.   I'm just saying, unless you




16   look closer - and  I don't think David  will disagree -  that you




17   have to look close at  what the history has been, but it is not




18   just a matter of rewarding the goods guys.




19            It's  a matter of encouraging industry to substitute




20   for  each other  and new entrants and all these other things.




21            There is a  big question:  Should we have saved




22   Chrysler?




23            I won't  argue here,  but  there is a lot of emotion.




24   it is  connected because the  allegation is  they  couldn't comply




25   because of  the  pollution requirements, and those questions are





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 1   troublesome.




 2             The point I was trying to make is a simple one.  If




 3   you use cost  effectiveness criteria in place of cutoff as to




 4   where you will no longer require regulation, then you aid the




 5   people who have not done things, very often.




 6             And, secondly, you do not move the economy to sub-




 7   stitute its. industrial plant when you reward those entre-




 8   preneurs and  new entrants.




 9             DR. HARRISON:  The only point is, you simply don't




10   want to only  let intuition be the only thing that you use to .




11   make these sorts of issues explicit.  I think all of us have




12   raised an issue, a complicated issue, of technological innova-




13   tion as to how one incorporates that in the regulatory struc-




14   ture.




15             That is not to say that that is not a relevant ques-




16   tion.  I think what one would like to do is to make those




17   kinds of concerns explicit, and if you have good information,




18   what that will do is essentially lower the costs and maybe




19   even increase the benefits in some areas because of other sub-




20   stances that  are controlled when you focus on a particular




21   substance. All the' better.




22             DR. ASHFORD:  The problem really comes down to how




23   much data you expect the regulator to move on when he really




24   is striking on an article of faith.  Say I'm the regulator,




25   I'm the head  of EPA.  I want to regulate arsenic and if I






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    looked at  the  industry and I believed, by having  this  string-




 2   ent  regulation, new entrants will arise  and  we will  be better




 3   off  in ten years; and then you ask me:   How  do we know that?




 4             I don't know how I know that.  The data is not  there




 5   Would I  be predicting?    Is it prediction or is it prophecy?




 6   There is a line drawn between prediction and prophecy.   It




    comes down to  your political views and religion,  and it is not,




    repeat,  is not derivable  from economic principles.




 9             And  I think we  ought to call a spade and spade,  and




10   that's the point of disagreement that I  say  you and  I  have,




    here and elsewhere, is to how useful you can push the  justifi-




12   cation for that decision.




13             Will you accept, where you're  sitting,  my  judgment




14   that I think in ten years we're going to have a different kind




15   of smelter in  Tacoma, Washington?  I don't believe you'd




16   accept my  judgment on that.




IV             DR.  HARRISON:   I think we would have more  agreement




18   on specifics rather than  we would on which religion  is appro-




19   priate.




20             CHAIRPERSON BENDIX:  Dr, Radford and then  Dr.




21   Eisenberg.




              DR.  RADFORD:  May I have the microphone, please?




23             I would like to speak to the issue from the  stand




24   point of an educator who  has been involved in the environ-




25   mental movement for a long time and certainly in  the early






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 l   days of the - well,  cranking up of EPA in terms of its regula-




 2   tory functions.




 3             There  was  no great concern that we pick out the worst




 4   problem and tackle it first, and the next worst problem and




 5   tackle it second.  We went ahead on all fronts and, in many




 6   cases, probably in a misguided fashion as far as the air pollu




 7   tion regulations were concerned; at least in my opinion.




 8             I mentioned the educational issue because one of the




 9   salutary side effects which Nick did not mention, about the




10   impact of regulation, is that the word is finally filtering




11   down into the educational community that they jolly well bet-




12   ter have chemical and electrical engineers and a whole bunch




13   of engineers who are designing a plant that know something




14   about the potential  toxic effects of what they're doing be-




15   cause it may wipe the whole process out, even though economi-




16   cally it's beneficial.




17             If it turns out that there's going to be something




18   released that is extremely hazardous and then, for that reason,




19   the company doesn't go with it, they can waste billions of dol-




20   lars designing a plant.




21             That's a long-range thing.  I would just like to




22   raise, I think,  two questions to anyone and everyone.




23             The first is that it became an article of faith in




24   the environment movement that technology followed regulations




25   and not the other way around.






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              In other words,  the  issue of whether  it  was  technol-




   ogically  feasible to do this,  that, or the  other was a second-




   ary  issue from the start.  Now,  of course,  that we're  the  en-




   vironmental cost-benefit  stuff,  that  has  been  somewhat turned




   around.




              But I would  like to  know if, in fact/ that aphorism




 7  still holds.  I was told,  for  example, when I  was  living in




 8  Maryland,  that when the regulations for air pollution  control




 9  in Maryland were about to  go in  effect, there  were 15  vendors




10  of new equipment waiting  on the  border to pounce on all the




11  industries to sell them their  product, and  this was brand  new




12  stuff that wasn't going to be  factored into any economic bal-




13  ance that would have been done months before.




14             The second question  gets a  little bit more specific.




15             I have been  told - and I would  like  to have  it con-




16  firmed,  if possible -  that at  the time that the one part per




17  million  vinyl chloride occupational standard went  into effect,




18  the  industry immediately  proceeded to hire  Arthur  D. Little or




19  any  number of hot shot economists to  do cost benefit analysis;




20  and  these varied anywhere  from one million  dollars per whatever




21  unit to  up to billions.




22             It was in at least that order of  magnitude variation,




23  depending on who did the  calculations.




24             There was an instance, I've been told, where, after




25  the  fact, OSHA, for once,  stuck  to its guns and said,  "Not,






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 l   it's going to be one part per million," and within eight months




 2   all of the existing plants were in compliance, and somebody ha<




 3   the bright idea to actually calculate how much the cost was.




 4             And,  as I understand it, it came out something like




 5   ten percent of even the lowest estimate that had been done




 6   before the fact.




 7             All I'm saying there is, if the facts are correct as




 8   I have stated them it shows how bad the cost, even the cost




 9   side, is calculated by those who are supposedly doing it in an




10   expert fashion,




11             DR. ASHFORD:  Maybe I can respond to the issue of




12   technology.




13             I think, Ted, it's a little bit the other way around




14   The early water and air pollution was based on present tech-




15   nology.  It turns out that there wasn't very much technology




16   forcing.




17             That's why we got stack scrubbers.  That's why we




18   got lead traps.  And that's why we got no process redesign.




19             OSHA came along with a series of creative legal deci




20   sions and was recognized to have technology-forcing capabil-




21   ities, such as in the vinyl chloride case; and history does




22   show, in fact,  that the polemerization process for PPC was




23   accelerated greatly, not the minute the regulation hit but




24   months before hand.




25             Regulations is not a single event.  It's a series of






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 1   dances  and  people who  have  a  lot  of  time  to get  their act to-




 2   gether:  Consumer Products Safety  Act,  the Toxic  Substances




 3   Control  Act,  the OSHA  Act,  all  that  new kinds  of legislation




 4   that  really has an  ability  to force  technology.




 5            The reason we've  had  bad  luck in regulation in the




 6   past  is  because it  was not  stringent enough, not because it




 7   was too  burdensome.




 8            Look at the  International  Harvester  case.   Here was




 9   Ford  ready  to go ahead with the requirements and it  was ack-




10   nowledged in the court case to  be the leader in  the  area, and




11   the court gave lip  service  to the fact that if they  allowed




12   the one-year delay  on  lead  and  gasoline they would penalize




13   the leader.




14            Well, that's exactly  what  they  did.




15            What kind of signals  next  time  around  does Ford




16   Motor Company have  to  benefit from  its thing competitively?




1?   I  had,  in the dimension of  the  environment, environment in




18   reality.




19            When you  take the emotional reason,  it is  no more




20   than  an additional  competitive  element.




21            I would like to requote,  they see tremendous oppor-




22   tunities in grabbing a greater  part  of the market if they can




23   comply faster than  their daily  competitors.




24            I think we have to  recognize that.




25            MR. BARAM:   We quoted Monty Thodow,  also,  yesterday.





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 1   We've quoted him a lot yesterday and today.

 2             CHAIRPERSON BEMDIX:   Dr.  Eisenberg?

 3             DR. HARRISON:  Could I just say something and empha-

 4   size one point that I think you made that is a useful one?

 5  j           That is that the kind of cost data that one has are

 6   obviously highly uncertain, but that there are other sources

 7   typically that regulate industry.

 8             And you mentioned in the beginning that there are

 9   some industries that are ready to provide the kind of controls

10   that might be required by regulations; and what happens, parti-

11   cularly, is that they are to the extent that they have incen-

12   tives to' look at cost differently,

13             Shall we say that their incentive is to underesti-

14   mate what the cost would be by using some cases?  And I think

15   that's extremely useful because what it means is that the

16   agency has some other source of information about compliance

17   costs than simply the industry that is being regulated.

18             As Toby mentioned, that has some obvious incentives

19   and so you have a possibility of getting some more cost data.

20   TO the extent that it has biases,  it has the opposite sort of

21   bias.

22             DR. ASHFORD:  This is a misleading statement,

23             The pollution control industry selling stack scrubberjs

24   and devices isn't necessarily the kind of technology you want;

25   and, yet, those independent cost estimates go to retrofit.


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          I will emphatically insist that the agencies do not




have the kind of expertise to do the engineering process re-




design technology estimates which need to be done, which is




the real way to solve these problems, the quick fix.




          And the merchants on the street, that way, are not




going to do much better in the pollution area internally and




with products than they did in air and water pollution.




          I think it is time to go in a little bit deeper in




terms of process redesign and those kinds of technological
exposures.
          DR. RADFORD:  What about vinyl chloride?
          DR. ASHFORD:  I did a study.  The prediction was 250




thousand workers out of work.  It turned out to be less than




a hundred.  The total price rise in vinyl chloride products




cannot be more than three percent at a time when the feed stock




costs force an eight percent increase.




          DR. HARRISON:  I might point out, this is completely




consistent with the kind of analysis that one would like to




see done.  That is, we would like to have some retrospective




analysis to ask the question:  How, in similar cases, have the




costs of similar kinds of technology been developed?




          And that's the kind of things that, in a regulatory




analysis - if there is some previous information on what the




costs are likely to be - that's the kind of thing I would like




in regulatory analysis; and I would encourage that.





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              DR.  REDFORD:   Can I add one point?  I don't want to

    usurp your time.   I'm sorry.

 3             As I understand it, one of the things that tipped the

 4   scale markedly in favor or, at least, reduces the unit cost

 5   of regulation was the recovery of monimer.   They just recovered

 6   a higher percentage.

 7             MR.  MOONEY:  Was there not also considerable debate

 8   about zero exposure levels?  I'm just trying to clarify whe-

 9   ther the economic perspectives are based on a presumption of

10   no permissible or acceptable exposure as opposed to one part

11   per million.

12             DR.  ASHFORD:   They were based on no possible expo-

13   sure, which is not different from what you are saying.

14             Using the technology which was already being de-

15   veloped and which was,  in fact, accelerated, there is not a

16   difference between the cost estimates.  In fact, the technol-

17   ogical assumptions made in cost estimates for no permissible

18   exposure and the cost estimates there are for one part per mil

19   lion —

20             This whole business of focusing on one versus two-

21   tenths versus five-tenths is fatuous because you can't measure

22   that.

23             You never design, if you had to comply with one part

24   per million, to one part per million.  You design to below.

25   So let's not pretend that one part per million is really much


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 1   better than  two  parts per  million because it's not.

 2             DR.  EISENBERG:  .David,  in you analysis of  that

 3   maleic anhydride situation,  are- you suggesting perhaps that

 4   regulators should look at  these things  or regulation should

 5   be  written in  such a  way that they're flexible enough, that

 6   they're not  geared industry-wide or they aren't geared to be

 7   handled equitable in  a situation but rather on a case by case

 8   basis?

 9             And  then, on the other hand,  my question would then

10   go  to the EPA  representative, how he would see implementing

11   such a regulation?

12             DR.  HARRISON: This is my own personal view.

13             I  think that it  is useful to  avoid blanket regula-

14   tions where, in  some  cases,  the benefits are very, very small

15   and the costs  might be substantial.  But I do recognize that

16   there might  be or there are likely to be more administrative

17   costs as well  as, perhaps,  other influences that cut on the

18   other side.

19             So I guess  my argument would  be to look at the parti-

20   cular cases  and  ask whether there is some administratively

21   feasible way of  avoiding high cost, low benefit controls.

22             DR.  CLARK:   You've asked the  question that I would

23   have commented on.

24             RARG will make some suggestions like that  and come

25   back to EPA, and EPA  will  then interpret the suggestions in


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    terms of the statute they're trying to implement.




              And,  aside from the administrative costs that David




 3   referred,  Congress has preferred,  it seems,  to have national




 4   standards in order to eliminate the environmental  programs




 5   affecting competition among plants.




 6             Most of our programs are national  and don't allow -.-




 7             DR.  ASHFORD:  Bob Crandall,  the former Acting Direc-




 8   tor of - challenged the vinyl chloride case  as being the single




 9   exception to the rule.




10             You see, you're never going to be  able to satisfy




11   criticisms, and I'm not saying David's criticisms  - cricitisms




12   that the agencies are not accountable when you say this is an




13   exception and that is an exception, and key  people are defen-




14   sively doing these anlyses.




15             If the regulatory impact bill passes in  the Congress




16   which requires full consideration to honest  alternatives,




17   you're talking about the Beltway Bandits in  Boston - an enor-




18   mous amount of money to do these analyses when they know what




19   the answers are beforehand.




20             You're talking about half a million to six hundred




21   thousand dollars, 750 thousand dollars an analysis to satisfy




22   RARG requirements.




23             As a person concerned with technology, I would like




24   to say, for 750 thousand dollars,  I think the government could




25   encourage development of new technology, could stimulate new






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l  entrepreneurs, could  stimulate  --

2            However,  I  might have misguessed  on  benzene  at  one

   per million versus  five, there's going  to be a lot  more payoff

   if we  can stimulate new technology  than to  conduct  these  ana-

   lyses  which,  in  the last analysis,  aren't believed  by  anybody

   anyv/ay.

             I question  the cost effectiveness of cost effective-

   ness research.

9             [Laughter.]

10            DR.  HARRISON:  I guess I  would simply say,  in my

11  sense,  that is an empirical  question.

12            MR.  BARAM:   Selina, I would  like  to  ask a question to

13  TSCA.

14            You started out discussing the asbestos case from

15  your remarking remarks on asbestos, which is a proven  carcino-

16  gen.   You implied that a decision to regulate  asbestos, the

17  very decision to work on the asbestos  problem  was going to be

18  based  on the  results  of some economic  cost-benefit  analysis

19  or balancing  health versus economic effects.

20            David  has,  then, talked about the RARG economic pol-

21  icy analysis  as  well  as some of the others  that may be going

22  on in  terms of cost effectiveness,  but it seems at  this  junc-

23  ture here you are talking about, Toby,  whether or not  to  regu-

24  late asbestos based on economics whereas David implies that

25  once a decision  is  made to regulate asbestos it bubbles up to


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 1   RARG and then RARG,  and then RARG just tries to help you de-

 2   termine the most cost-effective way to do it.

 3             I think that's a critical distinction because we're

 4   worried that OTS will never produce any regulations at all.

 5             DR. CLARK:  I think it's fairly clear that we have

 6   decided to take on asbestos.

 7             The question of how we take on asbestos, to what ex-

 8   tent we try to control its use, how we try to control its use,

 9   and where we try to control its use requires some balances.

10             Our economic analyses will be a part of that.

11             MR. BARAM:  Do you h ave any guidance in terms of a

12   set of health criteria in selecting OTS regulatory targets?

13   For example, items which have attributes like the greatest

14   severity, the greatest irreversibility, or the greatest magni-

15   tude of health effect?

16             Is there any attempt to develop an health impact

17   analysis as a basis for selecting targets so that David and

18   his group can work on a cost-effective way in attacking those

19   targets?

20             DR. CLARK:  We, at this point, do not have any for-

21   mal criteria, but the way in which things enter the queue, so

22   to speak, is basically health-based analysis - relative prior-

23   ity in terms of the number of people exposed.

24             MR. BARAM:  Is that explicitly spelled out anywhere,

25   a guidance document we could take a look at?


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 1             DR.  CLARK:   As  I  say,  there are no formal criteria.

 2   Well,  if  you look  at  that report I  just handed you this morn-

 3   ing,  it's fairly explicit in there,  yes.

 4           .  CHAIRPERSON BENDIX:   Dr.  Button?

 5             DR.  SUTTON:  Good things  have a way of being abused,

 6   but it seems to me that what we are really discussing is some

 7   process in which we collectively decide how to far to go on

 8   the regulation, not only  what to go after but how far to go and

 9   in which  way.

10             And to complete ignore any aspect of cost, for

11   example,  and benefit  seems  to be unwise.

12             You seem to say that you  can't do it at all so let's

13   not --

14             DR.  ASHFORD:  No,  I didn't say that.

15             DR.  SUTTON:  — whereas RARG seems to say, let's do

16   some and  see if it sharpens our analysis of the situation to

17   allow us  to make a better decision.

!8             I tend to identify with that posture a little more,

19   probably  biased by religion and experience and so forth.

20             My question is:  How much effort are we actually

21   putting in on this process  right now?  I don't have a feel for

22   that in EPA and I  would like your two estimates of what per-

23   centage of that effort has  any useful impact at all on the

24   decision-making process.

25             DR.  CLARK:   How much effort are we putting into TSCA


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 1   or into all of EPA?

 2             DR. SUTTON:  Quantify it in some way: numbers of

 3   people, percentage of dollars spent, something like that.

 4             DR. CLARK:  Our budget to support our work in per-

 5   forming economic and some benefit analysis is roughly 2.7

 6   million dollars for this past fiscal year.

 7             DR. SLESIN:  How much of that is —

 8             DR. SUTTON:  That's total contract.

 9  '           DR. CLARK:  That is for the regulations we issued

10   this past year or are issuing.  So I don't know what you would

11   come up with in cost per regulation.

12             There are substantial resources being spent on this

!3   regulatory analysis.

14             MR. BARAM:  Well, there are also other attributes

15   to this whole process, such as delay on presenting any regula-

16   tion at all.

17             As Alfred Kahn was quoted in the New York Times, the

18   whole purpose of this process is to, "... grind down on

19   health safety and environment regulation."  That was the quote

20   in the Times.  That is the exact quote.

21             MR. MOONEY:  Probably a misquote.

22             MR. BARAM:  I don't know.  It was pretty honest.

23             DR. CLARK:  He says some outlandish things.

24             MR. BARAM:  Even though David's group only does four

25   analyses, there are other agencies that do other analyses.  So


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 1   your  total  effectiveness  goes  far  beyond  the  few regulations
           i
 2   that  are  assessed.

 3            It  does  have  a  chilling  effect  on a lot of  health

 4   safety  initiatives,  and that's what  we're concerned about,  too.

 5            DR,  CLARK:  Don't  let us mislead you.   Every analysis

 6   or every  regulation  that  comes out of  EPA has some analysis

 7   done  on them  so  it's not  just  those  that  RARG selects.   Every

 8   one has additional analysis.

 9            DR.  SUTTON:   Can I continue,  finish my question,  and

10   give  you  two  a chance to  give  a personal  opinion about the  im-

11   pact  of that  2.7 million  dollar effort that is going  on?

12            DR.  ASHFORD:  I don't know that most of the money

13   that  has  been spent  to  date  has brought forth any analysis

14   that  is worth having an influence.   I  think it is too early.

15            The office is relatively new in this game so I can't

16   answer  the  question  with  regard to the EPA,   I think  I can

17   answer  the  question  with  regard to OSHA who has been  doing

18   this  for  a  longer  period  of  time and which is contracted out.

19            There  has  been  a tremendous  amount  of money spent on

20   economic  analysis  by OSHA.   Most of  it was pretty terrible

21   analysis  done by contractors who worked both  sides of the

22   street, quite frankly.  It has ended up embarrassing  the

23   agency  rather than helping it  because  it  was  so inadequate.

24            Where the  very  few pieces  of analysis were  done well

25   and correctly, it  cause the  agency to  adopt more stringent


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 1   regulations that it would otherwise have done.

 2             In other words, the back-of-envelope  calculations

 3   to regulating OSHA's standards has generally been more appre-

 4   ciative of the economic effects than our rigorous analysis has

 5   ended up showing.

 6             So it's amusing that if you really do the analysis

 7   right it turns out that OSHA doesn't go far enough, and I want

 8   to quote Nordhouse from the Council of Economic Advisors, and

 9   he said, "If anything,  this standard should have been more

10   stringent."

11             Of course, he didn't say that in public.  He never

12   once complimented OSHA on having done good work in that area;

13   and I'm going to press motivation, and not David's motivation,

14   but I'm going to press motivation from the large thrust of

15   support given for these analyses.

16             I think we ought to call a spade a spade.  I think

17   it is a diversionary technique.

18             I think that the back-of-envelope calculations - and

19   I'm not saying no analysis, honestly - I think  the kind of

20   analysis that deserves to be done is not particularly sophis-

21   ticated and does not cost, particular, a lot of money.

22             It puts a great deal of discretion where it belongs,

23   on the heads of the agencies who take the heat.  And I think

24   we can't forget,.this is an administrative law  process.  If

25   the agency starts going after minnows, it will  be corrected


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 1  mid-course; you can rest assured of that.




 2            DR. ASHFORD:  We are under-regulated,  on  the  whole.




 3  Taking  regulations' portfolio approach  as  a  stock investment




 4  in  health, we are  not doing  nearly enough.   So  I want to  ques-




 5  tion:   Why are we  continuing to divert  resources where  I  would




 6  like  to have that  2.7 million dollars spent  in  assisting  small




 7  firms to comply by giving them technologically  information,  by




 8  viving  a little bit more technological  expertise and knowing




 9  what  is possible to drive the regulation,  not what  the  economic




10  impact  is which ignores the  leveraging  effect,  which is the




11  real  payoff of this regulation?




12            DR. SUTTON:  Are we in a learning  curve in the  eco-




13  nomic analysis business?  Are they getting better and getting




14  more  useful?




15            DR. HARRISON:  Well, I think  in  terms of  the  regula-




16  tory  analyses that are done, I am assured  that  they are.




17            We actually have not done any reviews of  the  TSCA




18  regulatory analyses, so I don't know.   I really can't comment




l9  on  how  useful they are.




20            I guess  my defense, though, is that,  in a lot of




21  these areas, some  sort of economic analysis  is  useful and I




22  guess Nick would agree.




23            My sense is, the kind of analysis  that is required




24  under the Executive Order, under the presidential order,  is




25  reasonable and is  likely to  improve the overall nature  of





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 l   regulations;  and while it is costly - the overall compliance




 2   costs and the overall benefits are quite large in magnitude -




 3   I think one way of looking at these regulatory analyses is as




 4   investments in better decision-making and that, sometimes, the




 5   RARG process is part of that.




 6             DR. CLARK:  Can I add one thing, too?




 7             I think that, with respect to TSCA, it will be bal-




 8   ancing act regardless of what the President said we had to do.




 9   We would have to do these analyses or something like them in




10   order to determine unreasonable risk.




11             CHAIRPERSON BENDIX:  Becky Moon?




12             MS. MOON:  I went back to my notes that I took as a




13   result of your discussion, Dr. Clark.




14             First of all, you said it was a balancing act, risk




15   versus cost control. Then I have a big long paragraph of how




16   you do your cost of controls.




17             Ever since I came on this committee, three years ago,




18   I've just been dying to know how you analyze the other and I




19   can't get anyone to tell me what you do.




20             Then someone else said, we do a cost analysis and




21   then we do "some benefit analysis".  Now, I don't know what




22   "some benefit analysis" is, but I'm really curious what this




23   "benefit analysis" is.




24             i see all the evidence here.  What's on the other




25   side?





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              DR.  CLARK:   What is on the other side?




              The point I was trying to make, it's not done by




 3   economists.




 4             MS.  MOON:  Who does it and how does it come in?




 5             DR.  CLARK:   It is done in the Office of Testing,




    Warren Muir's office, and the risk assessment group.  They




    take the evidence that a substance is toxic.  This is animal




    tests, some epidemiological studies,




 9             They try to estimate expression in the workplace by




10   consumers, et cetera.  And they try to, then, estimate the risk




    to risk assessment, both qualitative and quantitative.  EPA,




12   you know, tends to be more quantitative than other agencies.




13             The risk associated with not regulating that sub-




14   stance - and that is the benefit side, that's the benefit of




15   the regulation.




              MS. MOON:  Who does the balancing once you put in




    the economics and Muir brings in the other side, which we've




18   yet to define?




19             DR.  CLARK:   The Assistant Administrator.




              MS.  MOON:  Is that between stage two and stage




21   three or our little thing on significant regulations, or is




    that after three, after proposed?




23             DR.  CLARK:   I don't know about your stages on signi-




24   ficant regulations, but when the Assistant Administration de-




25   cides to propose in regulation or ask the Administrator to
99
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 l   propose a regulation,  he has essentially done that balancing

 2   and said, this is the  regulation we want because it's going to

 3   eliminate substantial  risk and we don't think the costs are

 4   unreasonable.

 5             MR.  BARAM:   Toby, who is that so we can talk to him?

 6   Who is that,  Bill Dreighton?

 7             DR.  CLARK:   Steve Dillon,  He is the person that

 8   proposes the  rule.   All the other officers in EPA have an oppor

 9   tunity to comment on that and discuss it, and the Administra-

10   tor finally makes a judgment.

11             It's a proposal from Steve and a decision by the

12   Administrator.

13             DR.  EISENBERG:  Toby, you were saying that you don't

14   have the economists involved in this, primarily, the scientist

15             Do  you ever  factor in the cost of raising a retarded

16   child?  Do you factor  in the cost of hospitalization for a cer

17   tain illness?

18             Those are costs.

19             DR.  CLARK:   Those are definitely costs associated

20   with the risk, yes.

21             Those costs  are not usually computed explicitly.

22             DR.  EISENBERG:  Why not?

23             DR.  CLARK:   Because they don't add a lot of informa-

24   tion.

25             If  we went to this, we say, "Okay, ten people a year


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 l   would get cancer  from this,"  and this  involves,  everybody knows

 2   hospitalization.   It  involves the pain and suffering in the

 3   family.   It can involve a lot of other things.

 4             And we  will compare that against costs.   The Assis-

 5   tant Administrator is taking  those types of costs  you are re-

 6   ferring  to into account when  he's doing this balancing.

 7             We don't think that making explicit cost estimates

 8   of them  would add to  his information.   We have those.   They

 9   would be easy enough  to do.   But you couldn't add  them onto

10   the risk.  That would be double counting.

11           _  That's  part of the  risk.  That's part of that side.
                                            1
12   Those costs are taken into account,  but we don't try to put

13   monetary numbers  on them because we don't think that adds to

14   information.

15             CHAIRPERSON BENDIX:  I would like to make a comment

16   on that; and that is, I think in terms of public understanding

17   of the justification  for the  regulation that it is a mistake

18   not to publicize  these kinds  of costs  because many of these

19   costs -  raising crippled children and  so on, training doctors,

20   building hospitals to care for them -  are borne by society at

21   large.

22             And one of  the ways of getting general public sup-

23   port for a regulatory activity of the  agency is to have the

24   public understand that they are paying the costs for not regu-

25   lating.


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 1             MR.  MOONEY:   It would be interesting to see an eco-

 2   nomic cost analysis on the tobacco industry.

 3             CHAIRPERSON BENDIX:   Dr. Slesin?

 4             DR.  SLESIN:   I would like to pick on two points.

 5             We've been discussing vinyl chloride and learning

 6   curves.   Did your group ever go back and look at how good your

 7   estimates were in an economic analysis?  Do you do a retro-

 8   spective study as to the economic real costs?

 9             DR.  HARRISON:  I guess I wasn't clear enough.

1°             The RARG does not do any economic analysis.  What it

11   does is review the agency's economic analysis, but we don't

12   go out and make independent estimates on what the costs are.

13             DR.  SLESIN:   Do you act solely as economists?  Do yoi:

14   satisfy the rules of a good cost-benefit analysis?

15             DR.  HARRISON:  What we might suggest - and I also

16   mentioned it,  and let me just reiterate it - is that most of

17   the emphasis is on methodology so that one --

!8             The way I interpret your question is, ought one to

19   recommend to the agency, when it comes up with a regulation D,

20   that it looks at what happened in regulations A, B, and C and

21   whether that experience sheds any light on how to interpret

22   costs or what the likely benefits might be?

23             MR.  BARAM:  You said earlier that RARG files its own

24   economic analysis.

25             DR.  HARRISON:  No.


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 1            MR. BARAM:  You do do  independent  economic  analyses




 2   in RARG?




 3            DR. HARRISON:  Let me  clarify what the  economic




 4   analysis  is.




 5            I  have  tried to point  out  that  we  don't go  out,  and




 6   it is  not a  substitute for the agency's regulatory analysis.




 7   What is submitted for the record is  not, ."Here  is the regula-




 8   tory analysis you ought  to have  done."  It's not  that at all.




 9            What  it is is  a comment on strengths  and weaknesses




!0   of the agency's regulatory analysis  and some suggestions for




11   modifying the framework, the methodology,  suggesting  what  data




12   issues might be clarified because there seems to  be a consid-




13   erable amount of  disagreement.




14            We should be very clear.   These are not substitutes




15   for the agency's  regulatory analyses.  That  is  not the purpose.




16            MR. BARAM:  I  will try to  clarify  my  understanding.




17            These are more than  just responses to what  the agency




18   has done.  For  example,  you go to OSTP and ask  for technical




19   information, reviewing what the  agency has done technically,




20   and he will  suggest a number of  alternatives for  regulating or




21   not regulating  that the  agency has not considered.




22            For example, in ozone  standard.  I saw  your response,




23   which  was loaded  with criticism  of agency assumptions on whethejr




24   ozone  should be controlled or  not because it wasn't cardino-




25   genie  and there was some melange of  technical and economic





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 1   response which was more than just a response to what the




 2   agency had done.




 3             It was  a whole new thrust of philosophies and scien-




 4   tific and economic findings.




 5             DR. HARRISON:  There is something.  I think that the




 6   ozone RARG review was done before I was there,  but I am fam-




 7   iliar with it and the kinds of recommendations that are made -




 3   and,  remember, they are recommendations for what the agency




 9   ought to consider and they are filed in the public comment.




10             So that the expectation is that these comments would




11   be one among the  various comments that the agency is going to




12   address as it produces its final regulations.




13             And, frankly, my sense is that while we do occasion-




14   ally ask for the  Office of Science, Technology and Policy to




15   give us some insights on what technology is involved and what




16   other kinds of evidence might be available, that, is not the




17   focus.  That is relatively unusual.




18             MR. BARAM:  You have reflected in an improvement in




19   the sensitivity or RARG to lots of procedural and other abuses




20   in the past, and  I think things are changing.




21             DR. SLESIN:   You will not comment on actual numbers,




22   and you won't comment on —  It's purely a methodological view.




23             I find  this very hard to believe.




24             DR. HARRISON:  Let me say, I say, focus on method-




25   ology.  For example, how could this group, a very small group,






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 1   the senior  staff  of  the Council  of Economic  advisors is ten,

 2   and that  staff  has the  responsibility to assist three members

 3   the Chairman and  two members  -  in providing  advice to the

 4   President on economic matters,  if which regulation is one

 5   aspect.

 6            So you  can imagine  there are one or two of us who

 7   get involved in regulations.

 8            As I mentioned,  the  COUPS staff is larger, but it

 9   wouldn't  be possible for us to  be familiar with all the science

10   and technology  or to go back.   It's not productive.

11            So that what  might happen in some  cases is to point

12   out that  the cost range is  quite large and it will be useful

13   for the agency  to try to narrow that range to further evaluate,

14   as they go  forward in promulgating final regulations.

15            I understand  why  the  range is so large and why it

16   should be clarified, but I  don't think it could be by a review

17   of all of the cost data, effectiveness control.

18            MR. BARAM: Could you send us a couple of copies of

19   different analyses,  such as the ozone, and also something more

20   recent?

21            DR. HARRISON:  I  am most familiar  with the two most

22   recent ones.

23            CHAIRPERSON BENDIX:   We need to take a break, now,

24   for the benefit of our  Reporter.

25            After the  break,  if Dr. Seisin wants to complete the


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 l   thought there - and then the order would be Dr. Radford and

 2   Tom Mooney, and Becky Moon.

 3              [A short recess was taken,]

 4           r  CHAIRPERSON BENDIX:  If people could start moving

 5   back to the table, please, so that we can reconvene.

 6             All right.  Lou Slesin doesn't seem to be back yet

 7   so we will go to Dr. Radford.

 8             DR. RADFORD:  I would just like to follow up on a

 9   point that Becky Moon made.

10             I think it's the concern of a lot of us:  How does

11   the scientific evidence get  factored into the decision-making

12   process?

13             And the impression that a lot of people have, and

14   maybe a lot of people in this room, is that the scientific

15   community produces nice clean evidence which is easily inter-

16   preted and, therefore, because it is much more quantitatively

17   precise than the evidence that is obtained in the economic

18   realm, that we have a disproportionate degree of uncertainty.

19             I would simply like to point out that the scientific

20   evidence is anything but clean.  It is subject to exactly the

21   same kind of religious, philosophic, and other pressures that

22   motivate,  perhaps, some of the difficulties in the economic

23   field.

24             And I think the example of the scientific uncer-

25   tainty or, at least, scientific disarray, if I may put it that


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 1   way,  of the whole  question of the effects of low levels of




 2   radiation is a classic  example of a way in which the scientific




 3   community can be swayed,  I believe,  on either side by their




 4   emotions and so forth.




 5             So one step we  are taking to help maybe correct this




 6   situation a little bit  is to hold a symposium in Pittsburgh,




 7   and this is a sales pitch and 'I have brochures for all members




 8   of the committee and I've handed out several already; and I




 9   think I will have enough  for some members of the audience.




10             It's going to be on April 28th to the 30th, and just




11   to give you the title of  the symposium, it's "Epidemiologic




12   Studies as a Scientific Basis for Environmental Policy-Making"




13   And,  of course, I think everybody in the room recognizes the




14   hot potato that is.




15             On that note, I would simply like to point out that




16   we need to get our scientific house in order, just as we need




17   to get our economic house in order.




18             CHAIRPERSON BENDIX:  Does anyone on the panel want




19   to respond to Ed's comments?




20             DR. CLARK: There is certainly disagreement.  The




21   scientific information  is certainly as uncertain as the eco-



OO      «
--   nomic.




-3             DR. ASHFORD:   I maintain it's much more uncertain.




24   Science is reductionist as a discipline.  It tries to control




25   experiments, to isolate one causative factor, do a neat re la-





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    tionship on one dimension.




              And when you do an animal experiment and isolate your




 3   test substance, life isn't that way.  When you try to extra-




 4   polate to real life situations, previous histories of exposure,




    distress,'.it' s not that it's always v/orse.  It's that there




 6   is a good probability that it may be worse.




 7             And how risk adverse you are, really, has to be fac-




    tored into how you look at that data.  Scientists tend to want




 9   to simplify life.  That is the thrust of scientific inquiry.




10             And, by the way,  the real work that is to be done -




    it's difficult on the benefit side of the equation, which is




12   to construct a risk profile, a probability of harm for a real




13   population.  It couples the techniques of toxicology, epi- •




14   demiology, and econometrics.




15             It almost"takes a superhuman person who understands




16   how to deal with cohorts, mobility, different age groups.  Cal-




17   culation is very difficult.




18             You begin with a dose response curve for an organ-




19   ism, but that is the simplest part of the job because that




20   dose response curve has to be superimposed on people with




21   varying characteristics and multiplied through; and it is a




22   very difficult task.




23             I have done it.  Other people have done it.  It's




24   immensely difficult to do correctly, and terribly easy to do




25   incorrectly.





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 1            We don't yet have a science.   It's  not  risk  assess-




 2  ment  in the sense of dose  response.   It's  risk  assessment  in




 3  terms of target populations.  And we  have  not yet sophisticated




 4  our techniques to be able  to do  that;  and  the number of  scarce




 5  resources in terms of people that are able to do  that  work is




 6  very  small.




 7            CHAIRPERSON BENDIX:  Lou, there  were  some points you




 8  wanted to clear up?




 9            DR. SLESIN:  Yes.  I'm not  sure  who to  address this




10  to, but before you said  that the agency had decided to go after




11  a  specialist,, before the break.




12            I applaud that decision.    I was wondering,  given




13  the performance of OTS on  the schools,  asbestos and schools,




14  and the decision originally that they should  go with a volun-




15  tary  program over a mandatory program,  who in the government




16  thinks about a decision  like that in  the context  of how  much




17  money is being spent in  other parts of the government, like




18  NCI and NIH, in general, on cancer research?




19            The numbers we're talking about  are billions of dol-




20  lars  a year in research  on cancer, of course.  That is a pres-




21  sure  group that builds up  with that kind of money being  pumped




22  into  it.




23            Whereas, perhaps, there is  not a similar pressure




24  group to look after the  schools  and the children  in them.




25            But how do you work with prevention there in terms of





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 1   getting the asbestos out so we don't have to,  perhaps, worry




 2   as much about finding a cure?  How does one look at those two




 3.   budgets at the same time and reach one decision on schools




 4   and another decision on the cancer budget;  if  there is some




 5   clearing house in the government to worry about those kinds of




 6   decisions?




              DR. CLARK:  Well, there is, I guess  one could say.




    There would be a clearing house which would probably be OMB.




 9   I don't know if Henry Beal told you yesterday  or not, but there




10   is a suggestion that we start a formal analysis at that time,




    another one of these on top of all the other analyses we are




12   doing.




13             I get sort of defensive when you make suggestions




14   like that, but, yes, thre is going to be an analysis to deter-




15   mine the impact of our regulations on other governmental units.




16             It will be very hard, I think, to relate anything we




17   do on asbestos in schools with a budget of NCI.  I think NCI




18   is going to be doing research on carcinogens,  and there are




19   many more than just the asbestos in schools.




20             There might be a small reduction, there, because




21   they are doing some work that is related, but  that budget




22   tradeoff is not going to justify the regulation.  It's going




    to be relatively small.




24             So far, I guess, I have to admit it's not formally




25   taken into account and I think, unfortunately, it may be in





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    the  future.




              CHAIRPERSON BENDIX:   Ted,  you had a comment on this




 3   point?




 4             DR.  RADFORD:   On this particular  point,  yes




              I  would just like to say that I quite agree with




    Toby:  nothing  is going to happen of that nature.




              We made an attempt,  when I was working the CEQ back




 3   in the  days  when Toby and Steve Jellinek were in it trying to




 9   bring  some rationality into the whole cancer area in relation




10   to environmental influences and to try to  stimulate research




11   which  would  define what the hazards were in the real world.




12             And  it was a complete failure; and I learned the hard




13   way  that these agencies have enormously effective ways around




14   any  efforts  to look into their practices, do anything about




15   them,  change priorities or anything else.




16             Of course, the NCI and NIH have been essentially




17   diagnostic and therapeutic medicine, not preventive medicine




18   at all.  You can look at the budget allocations within NCI to




19   see  that.




20             But  one little glimpse that I recommend to anyone




21   interested in  this question is to look at  this co-called Labosy




22   Report last  year, which was an inter-agency group to evaluate




23   the  federal  radiation research program in detection of low




24   level  effects  of radiation.




              There the numbers were spelled out and they made ver\





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 1   interesting reading,  very large chunks of money going to the



 2   government laboratories for,  quote,  basic research, unquote.



 3             There appeared very little,  relatively little money



 4   going into the study of effects on human populations and almost



 5   none, at that time,  going to universities as distinct from



 6   Department of Energy or, let's say,  NRG functions or other



 7   federal agencies that were using the research, in house, or



 8   directly contracting with non-university sources.



 9             So that we don't get a very good glimpse anywhere in



10   the federal establishment as to where the money actually goes



11   and that tells you where the real priorities are in very loud,



12   stentorian terms better than any statements made by any admin-



13   istrator; and you look where the money goes, and it's not goinc



14   into preventive strategies.  That's for sure.



15 .            CHAIRPERSON BENDIX:  Did you want to comment on that?



16             MR. MOONEY:  A couple of comments.  I want to go back



17   very quickly, to the reference that was made to remarks appar-



18   ently offered by Monty Thodow.



19             I didn't hear them and I won't presume to interpret



20   what Monty meant in a statement which I didn't hear, but I



21   don't think there are many of us - whether we work for com-


OO
    panies or agencies or institutions - that have budget and



23   people and more things to do than we have time who don't, in



24   some way, engage in a process of sorting out what we're going



25   to do with our time and where we're going to spend our dollars




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 1             Perhaps  he  said  something  to  the  effect  he didn't



 2   use  a  benefit-risk approach,  but  everybody  uses  something that



 3   I  think  involves those  elements  in  figuring out  where to put



 4   their  priorities.   I  happen to think the right process is a



 5   very constructive  and positive.process,  and I  really am



 6   puzzled  that people take issue with  it  or find it  an intrusion.



 7             We seem  to  be a  government system that's built on



 8   checks and balances;  and,  to me,  it  is  just another cross-



 9   check  that is saying, "Hey, have  you thought about this," or



10   "Have  you thought  about something else?"



11             I do think  if we press  it  to  the  limited extreme of



12   trying to put precise numbers on  everything, things would fall



13   apart  because I don't really believe you can do  that, but there



14   is the middle ground  that  I believe  Bill Sutton  was getting at:



15   that that shouldn't make it less  than legitimate to at least



16   talk about the economic impacts,  even if those can't be quan-



17   tified right down  to  the last penny.



18             So I think  it's  a constructive process and I'm happy



19   to see it going on, and I'm sorry frankly when I hear there



20   are  voices outside of the  industrial community,  within the



21   government, that contend that the bureaucracy  is a system that


99
    is out of control.



23             When I hear statements  like that  being made by people



24   in the Congress and people in the White House, I get a little



25   nervous.
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              I suppose it's all right for agencies to be doing




    their thing as long as that happens to be something with which




    you're in agreement, but it does scare me a little bit if




    there isn't a check and balance; and I think it's reasonable




    for an agency to address,




 6             With regard to a remark that was made by Dr. Ashford




 7   I am thrilled with the hypothesis that more regulation is go-




 8   ing to deal with the problems of stimulating innovation and




 9   technology development in industry.




10             I don't happen to subscribe to that and I can agree




11   with the fact that certain regulatory actions have led to the




12   development of some new technologies to deal with particular




13   problems.




14             In that context, I think there is something to be




15   said for it, but I'm not sure I would, therefore, extend it to




16   saying that we're going to revise the whole business system by




17   more regulation.




18             We are dealing with crystal balls, I suppose, and




19   what happens over the next ten years if we did take a broad




20   stroke regulatory approach where somehow the process was sim-




21   plified and the agency didn't have to concern itself with cost




22   And suppose it could take tremendous actions along the lines




23   that are on the books in that list of, what was it, 180 or so




24   regulations in process under EPA's authorities that was men-




25   tioned yesterday?






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              I  wonder  if  there  is  anything,  Nick,  to  address your

 2   thesis,  in the  Food and  Drug amendments of  '62  which added an

 3   interesting  new dimension  which I  don't think  I take issue

 4   with,  but  one might postulate:  If  your thesis  is correct,  the

 5   Kefaiiver amendment  should  have,  perhaps,  stimulated drug tech-

 6   nology and weeded out  some of the  lesser  firms  and the things

 7   you associate with  increased regulation.

 8             DR. ASHFORD:   It's funny you should  ask  that question

    Let me address  a couple  of things,  and I  apologize for being

    verbose.

11             One is that  I  don't think that  we ought  to be under

12   taking regulation for  the  purpose  of stipulating technical

13   innovation.  There  are better ways to get the  business commun

14   ity going.

15             All I'm saying is, it may not look so bad as the

16   omenous predictions of the demise  of U. S.  industry.

17        .     There is  considerable evidence  for the stimulating

18   effects of,  particularly,  product- and process-oriented regu-

    lation.  Some of the evidence is in and some is not.

              It will have to  be an article of  faith for a while,

21   and I can  give  you  evidence  that exists and you can judge it

22   for yourself.

23             I  am  honestly  cautiously optimistic  about what I'm

24   saying,  but  let me  answer  your  specific question about FDA be

25   cause I am in the process  now,  under National  Science


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 1   Foundation sponsorship,  having just completed a report of the




 2   effects of the Kefauver  amendments on changing the nature of




 3   innovation in the pharmaceutical industry.




 4             MR. MOONEY:   I feel like a set up.




 5             DR. ASHFORD:   I said,  funny you should ask that ques-




 6   tion.




 7             The final report was delivered last Friday and the




 8   results are the following.  These are rough,  but they're sta-




 9   tistically significant:




10             That the nature of the drug development process has




11   radically changed since  the Kefauver amendments and it has




12   moved from a serendipitous lottery approach to a much more




13   systematic look at the drug opportunities in product develop-




14   ment - just exactly what you'd expect.




15             Let me just say that the Peltzman Study that merely




16   counts the number of new additives has changed.  Unless you




17   therapeutically wait for importance of new products, you can't




18   merely count the number of new products and ask what they do.




19   But the evidence is beginning to mount significantly that the




^   process of innovation has really changed.




21             Now, whether it was worth it, whether the costs are




22   worth the benefits depends upon how you view increased safety




23   and more efficacy versus cost to the consumer.  There's no cor-




24   rect answer to that.




25             But my thesis  has been - and it seems to be borne





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 1   out  -  that  the process  has  actually  changed.

 2            I once  thought, but  I  did  not suggest,  that  we re-

 3   quire  technological  innovation impact  statements.   I quickly

 4   withdrew that  recommendation.

 5            MR.  MOONEY:   I  think it's  worth pursuing.

 6            DR.  ASHFORD:  Let me address your earlier comments

 7   which  I  think  are important.

 8            On the  surface, if I look  at the RARG requirements,

 9   I  can  hardly be opposed to  them.   I  think a rational process

10   is required for agency  decision-making.

11            Where I might depart is that I think it exists to a

12   large  extent already.   I  think it has  existed;  and where I

13  -object to the  demand of a rigorous analysis - demand,  even if

14   the  analysis is not  rigorous,  a  rigorous demand for analysis -

15   is that, in practice,  if  you look at the history of the way

16   the  Council of Wage  and Price  Stability has interfered, undemo-

17   cratically, with  the administrative  process,  I think you have

    to come  to  a different  conclusion about whether the intellec-

19   tual exercise  is  worth, it.

20             I'll be specific.

21            On the  cotton dust standard, we have countable agency

22   heads  who were taken to task in public oversight hearings and

23   the  hearings on the  standard.   Everyone had their chance to

24   argue  about the economic  impact:  whether the costs were worth

25   the  benefits.


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              The hearings closed.   The Secretary of Labor is ob-

    ligated to make decisions on substantial evidence on the re-

    cord as a whole.

 4             The fact that pressure was put on Secretary Marshall

 5   and he was denied access to the President while he was lobbied

 6   by the economists in the White House leaves me cold.

 7             I don't care whether cotton dust is 50 parts per

    million or 25 parts per million.  I don't think the kinds of

 9   hairs we begin to split matter that much in the whole picture,

10   as much as that the decision be arrived at in a democratic pro

11   cess.

12             I'm deeply concerned that ex parte communication

13   after the regular hearing is closed, which is being imposed

14   upon the environmental agency,  really deprives us of the pur-

15   pose of the administrative process.  I don't think that should

16   be allowed.

              That is, in fact, what happened.  That is, in fact,

18   what has continually happened with regulation.

19             Yes, Sir Douglas appoints, Douglas Marshall, but he

20   has delegated the power to administer by the Congress, and it

21   is an interference, I will maintain, of the separation of

22   powers to deal with post-hearing back room maneuvering.

23             I don't have any problem with informal communication.

24   That's, how we avoid the conflicts.  But I'm deeply concerned,

25   as a democrat, small "d", with the process.


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              I  want  to  tell  you  one  example  and  this  is  on  the re-




    cord  of  how  the interference  occurs  in  the  hearing process.  We




    have  heard about  the magic  benefit to cost  ratio,  cost effec-




    tiveness.




 5             Let  me  give  you a simple example  of how  an  evalua-




 6   tion  by  the  Council  on Wage and Price Stability or like  bodies




 7   can distort  the analysis, and that is in  the  case  of  noise.




 8             There are  two basic ways to go  with noise:  require




 9   engineering  controls;  or  stick hearing  protectors  on  workers.




10             Now, you are hoping to  get benefits of hearing loss




11   reduction  under both measures of  control.   It is obvious to




12   everyone that  hearing  protectors  are a  lot  cheaper than  retro




13   fitting.




14             The  matter of the fact  is  that  hearing protectors




15   are  75 percent effective.   That's what  NIOSH  says.




16             Let's give the  upper limit and  say  that,  75 percent




    of the time, they will do the job an engineering- job- will do




18   at one-tenth the  cost.




19             If you  construct  a  benefit to cost  ratio for  those




20   two  different  approaches  -  one, a given hearing benefit  for a




21   certain  price  and, the second, 75 percent of  the benefit at




22   one-tenth  the  cost - it's very clear that the: most cost  effec-




23   tive  approach  is  to  stick hearing protectors  on the workers.




24             That, Calp said,  had to be the  way  OSHA  went  because




25   that was cost  effective.  Cost effective  for  whom?





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 l             What about the 25 percent of the workers who weren't




 2   protected?




 3             It's an equity consideration.  It's a statement that




 4   has to be looking at within the context,  in this case, of the




 5   OSHA Act; and ask if the Act was meant to protect 75 percent




 6   of the workers or as many workers as possible?




 7             Congress spoke to the latter.  The fact that it is




 8   not cost effective is really irrelevant,  interesting but irre-




 9   levant.  Cost effective for whom?




10             You can make things cost effective so that a very




11   small percentage or not the intended population is to be pro-




12   tected: not the asthmatics, not the pregnant women, not the




13   hypersusceptibles, not the people who suffer enzyme deficiencies,




14             The question is:  Where does the legislation go?  At




15   whom is it targetted?  And is the Council on Wage and Price




16   Stability demanding these analyses, really, trying to reorient




17   the legislative mandates to their own liking without account-




18   ability through this mechanism of cost effectiveness demand?




19             It is a very clear thing as to what's happening.




20             My opposition to the process is based on democratic




21   principles: that is, I don't like post-hearing maneuvering; I




22   don't like techniques being thrown up which artificially make




23   an agency look bad by saying, "You can do the thing," 75 per-




24   cent of the heart protection, "at one-tenth of the cost.




25   Aren't you financially irresponsible?"





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 l            That's what annoys me  in  the  process,  not  the  Intel-




 2   lectual  exercise.




 3            MR.  MOONEY:   You, therefore,  support  the conventional




 4   oversight means or dealing with  regulatory mismanagement?




 5            DR.  ASHFORD:   I support the hearing process, the




 6   checking by  the way  of  the courts.   The courts  have  continually




 7   stepped  in and argued whether  this  is concrete  to the  position.




 8            if you look at the legal  decisions, the courts have




 9   done  a remarkable  job of having  tremendous insight as  to where




10   the Congress struck  the balance.  You want to amend  the  OSHA




11   Act?  Damn it, amend the OSHA  Act.




12            But let's  not try to divert resources to continually




13   fight the legislative battle all over again.




14            MR.  MOONEY:   The benzene  division  will undoubtedly be




15   very  important to  the issue or what the intent  of Congress  was.




16   Unfortunately, that  intent is  a  little  obscure  at times, which




17   is why I guess we  have  the court debates we  do.




18            The only follow-up comment I  will  make on  your drug




19   report:  I'm glad  I  asked a timely  question.  I will suggest




20   that  the process - at least in my sense of what constitutes




21   innovation from a  business perspective  - the process is  less




22   important that what  comes out  the end of the pipe.




23            if you fiddle with the process, you can fiddle with




24   reorganization in  EPA,  which we'll  probably  talk about a little




25   later, but it's what comes out at the end of the pipe  that





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    generates the business that translates into the jobs and, hope-




    fully,  some cost and benefit to society that constitutes mean-




 3   ingful  innovation.




 4             So I think, at least on my query regarding this, the




    jury may still be out.




 6             DR. ASHFORD:  When you change the nature of drug




 7   development, how do you evaluate, as I indicate, whether it




 8   was worth it?




              MR. MOONEY:  It's a different issue and lots of




10   books have been written about the subject, but I thought you




11   might have something to teach us on your thought about what I




12   think was a substantially increased mention of regulation over




13   a whole business area.




14             DR. ASHFORD:  By the way, it's interesting that they




15   went to efficacy and not safety.  It's the only industry in




16   the world that didn't have to say its product, could do some-




17   thing in order to sell it.




18             You wouldn't bay a car if it didn't work.  You don't




19   know that with a drug.




20             DR. CLARK:  Can I make a comment on Nick's point?




21             I think I will have to say that I have a lot less




99   confidence in the admission of the court than apparently Dr,




23   Ashford has.




24             MR. MOONEY:  I was going to ask him if he preferred




25   the fifth circuit to the first.





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 1             DR. ASHFORD:   I will  take  the  whole  lot.   I  will




 2   throw  the  whole  fate  of  the  environmental  movement  to  the




 3   courts,  in general, because  if  you look  at it  they  have  sub-




 4   stantially improved the  level of  debate.




 5             If  you look at the Leventhal decisions  as scientific




 6   reasoning  documents,  they're marvelously impressive.   Even  the




 7   economic analysis of  the D.  C.  Circuit is  impressive.




 8             I think we're  growing up.   We're moving into a transi




 9   tion period.




10             I will throw my lot with the courts,  even if the




11   fifth  circuit reversal is sustained  by the Supreme  Court, which




12   I  don't  see as possible  by the  way.




13             MR. MOONEY: Let me make a note of that.




14             DR. ASHFORD:   It doesn't cost  me anything to predict.




15             DR. CLARK:  Have you  read  The  Brethren?




16             DR. HARRISON:  Let me just clarify that I was  talk-




17   ing about  the RARG reports and  we mentioned the Calp filings.




18             I don't know about the  specifics of  the noise, Calp's




19   filing,  but two  points I think  are in order.  One,  those fil-




20   ings in  the RARG review  are  on  the public  record  and are filed




21   in the public commentary.  So in  terms of their influence on




22   the decision  or  any delay, they really don't cause  any delay.




23             What they do is add to  the number of comments  that




24   are filed  in  our public  record  in the public comment as  de-




25   cided  by the. agency.






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          I think in terms of this noise case, what might have




been said in a review, if the facts are as Nick suggests, is




that you might be able to structure a decision on how much




noise control to require, what.kinds of noise standards to set,




by saying both:




          You can go part way by using personal protection de-




vices; and, if you want to go farther, the costs are going--to




be greater relative to the benefits.




          I don't think, typically - and, as  I say, I'm not




familiar with the details of this particular  COUPS filing, but




typically they say you ought to s:top at 75 percent control.
                                 >..



It simply points out the characteristics that, in the deci-




sion you have in front of you, you can get a  certain, amount of




the benefits at relatively low cost.




          Then if you go beyond that you're likely to have




higher costs relative to any increase in benefits.




          So that is another way of saying it.




          DR. ASHFORD:  I wish it were so, David.




          Unfortunately, you're my friend, and your boss,




George Eads, is the one who wrote in print the benefits of this




regulation do not exceed the cost.




          I don't know how you can compare them anyway because




it's hearing loss with dollars; and, secondly, I am afraid your




sensible approach to  the issue does not characterize what  the




analysis has been in  the past.





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             That doesn't mean that we should say  it can't be done




   correctly.  COUPS is still involved in this business.




             DR. HARRISON:  COUPS does fine on the public record,




   too.




             DR. ASHFORD:  At the President's Council on Wage




   and Price Stability, there is tremendous leverage when you have




   this kind of a body making commentary not only  on economic but




 8  scientific  issues to which is has no expertise.




 9            They couldn't evaluate an epidemiological  study  if




10  they knew what one looked like.  So you're talking about,  ben-




11  efits do not exceed the cost.  They have no way of interdepend




12.  ently evaluating.  They are not equipped to do  that  job.




13            MR. BARAM:  The chief offender has  been the CEQ.




14  They feel not constrained in any v/ay by the regular  or the




15  open notice in common proceeding, but also RARG and  COUPS' have




16  done a  lot  of work on the record, whether it's  airborne lead,




17  whether it's ozone or cotton dust, there are  many cases.




18            Whether they changed their policy in  the last few




19  weeks,  David, that's another matter.




20            DR. HARRISON:  I want to clarify that RARG, itself,




21  does not go beyond filing of comments.  RARG  is the  group  that




22  includes the regulatory agencies as well as --




23            MR. BARAM:  Nick made the point earlier about the




24  separation  of powers doctrine.  Don't you feel  RARG  is meddling




25  in a lot of the  internal conceptualization of what the agency






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 1   is doing,  not in terms only of cost effectiveness but also whe-




 2   ther it's  worth going after certain targets.




 3             There is a principle here that is very important for




 4   us to remember: that Congress provides the statutory agency,




 5   the funds  to the agencies,  funds the agencies.  They're the




 6   sole source of authority.




 7             And yet we have,  today, in essence a whole new doc-




 8   trinaire approach.




 9             The important decisions, the major and significant




10   ones which cost more than a hundred million dollars or what-




11   ever the measure is, are the ones that are precisely being




12   routed through this process.




13             DR. HARRISON:  I have to clear up again.




14             MR. MOONEY:  It is, indeed, a political process.




15             DR. HARRISON:  I understand there are different opin-




16   ions among legal scholars and lawyers as to what the appro-




17   priate role of presidential advisors is in the setting of re-




18   gulations.  I think that is the issue you're talking about.




19             RARG is a group that is composed of regulatory




20   agencies and files in the public comment and ceases to exist




21   in terms of a particular regulation after the public comment




22   period is  closed.




23             DR. RADFORD:  Selina, if I could make a couple of




24   brief comments because I'm going to have to leave for a while




25   and come back this afternoon.






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 1            First,  I will leave a number of these  notices  at  the




 2  back of the room.




 3            With regard to the noise  issue, I would  just  like to




 4  back up to what Nick said.  The first point is that  personal




 5  protection is no  way to go  in protecting the worker  from




 6  hazard.   That applies to respirators, noise control  and  so  on;




 7  and I  have seen some of the technology that is available in




 8  .noise  control.




 9            I'm convinced, despite  the capital costs,  they are




10  cost effective, anyway, across the  board.  They  will improve




11  worker efficiency because when you  work  in a noisy environment,




12  you can't have voice communication  and so on.




13            So I will drop the noise  issue from  the  medical point




14  of view right there.




15            I would just like to say, backing away from this




16  whole  regulatory  process and getting to  the question of  the way




17  in which  the regulations potentially may influence the  indus-




18  tries, I  do a small amount  of consulting with  a  company  which




19  I will not name but which is a moderately big  company and one




20  of the things they have me  do is  to look over  their  operations




21  and see if I see  any problem areas.




22            And I come up with a few, as I think most  anyone  who




23  is knowledgeable  in the field could do if they were  around  and




24  were given pre-access to all operations.




25            I have  been very  impressed with the  fact if I  flag






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 1   an agent as a potential problem,  they are usually able - and,




 2   in most cases so far,  the really hot ones - to eliminate that




 3   from their process;  and, in at least one case I know of, they




 4   made a bundle on it,




 5             The conversion to a different process system ended




 6   up that they were economically far better off by a substantial




 7   amount.




 8             Now, the point of that is, we can come up with anti-




 9   dote pill stuff like that all over the place, but the point is




10   one of attitude: that people do things because they've always




11   done them that way,  and we've got an enormous amount of inertia




12   built into the system because of that.




13             And all of this talk about cost benefit is basically




14   because we've got this inertia in there.  That's one of the




15   big elements there.




16             In this particular case where they make a lot of




17   money by converting the process, they had always done it that




18   way and.they had never thought, by doing it a different way -




19   which eliminated the hazardous material, which was both an




20   occupational an environmental hazard - that they could save




21   money.




22             in the first place, they didn't have to buy the pro-




23   duct which was expensive.  So,, anyway, I am just saying - and




24   I find this in labor - the inertia in labor is enormous.




25             We don't want to wear hardhats because "I'm a tough
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 1   guy"  routine, or we don't want  to  adhere  to  safer  practices




 2   because,  "My daddy never did  it that way."




 3             There's a lot of  inertia in  government and  there's




 4   certainly a lot of inertia  in academia.




 5             So we can go on very  extensively about that,  but




 6   oftentimes it just takes a  little  bit  of  cerebration  on it




 7   and,  my  God, you can  solve  these problems if the message of




 8   the  representatives of labor  and industry can be gotten across




 9   in this  whole area as, let's  look  at a new way of  doing things




10             And, on that note,  I  will heave.   But I'll  be back.




11             Thank you.




12             CHAIRPERSON BENDIX:  Thank you.




13             Becky?




14             MS, MOON:   I pass.  I've forgotten what  it  was.




15             CHAIRPERSON BENDIX:  Ted, I  don't  think  you've had




16   any  comments this morning.




17             DR. CAIRNS: This is  all pretty well far out  of my




18   field.   I'm interested in religion, but I don't argue about a




19   person's own religion or the  basis for it.




20             CHAIRPERSON BENDIX:  Is  there anyone on  the panel




21   who  would like to make a final  summing up commentary?




22             DR. CLARK:  I don't see  the  possibility  of  doing




23   that.




24             CHAIRPERSON BENDIX:  I will, then, 'make  a comment




25   about what I see as a commonality  in one  respect between the





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 1   discussions we had yesterday and the discussion this morning;




 2   and that is that yesterday we had spent a considerable amount




 3   of time considering the question of how much documentation is




 4   enough to justify the promulgation of a regulation and if,




 5   perhaps, one of the reasons that it takes so long to get a




 6   regulation out is that too much documentation is being put




 7   together to explain why the regulation is needed.




 8             I think we are seeing today what looks like another




 9   facet of the same problem:  that something which is reason-




10   able, done in moderation, may become unreasonable if it is




11   overdone; and are we bogging everything down in overanalysis




12   from many different standpoints - too much paper?




13             And do we need to look at ways of establishing cri-




14   teria for how much is enough?




15             Perhaps we ought to take a look at the motto that




16   CEQ has in saying a ten-thousand page environmental impact




17   statement is ridiculous and let's turn it down to 150 pages




18   and write something short enough that people will read and




19   find something out about it.




20             MR. BARAM:  And the court will find it inadequate.




21             CHAIRPERSON BENDIX:  I'm not sure that the court will




22   find it inadequate if it's done properly.




23             Thank you very much, to all of the panel members,




24   for a very interesting and productive session.  We appreciate




25   your contribution.






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              I  believe  that  Marsha  may  have  some  administrative




    matters  that she would  like  to bring up.




              MS.  MOON:   I  think this  has been  one of the most in-




    formative  and interesting sessions we've  had in a long time.




              MR.  MOONEY:   At least  we've gotten some divergent




 6   views  from the three of you.




 7             MS.  RAMSEY:   First of  all,  I have travel vouchers




 8   Does anyone  need one?   You have  to fill them out with receipts




 9   and all  of those things.




10             CHAIRPERSON BENDIX:  You also have forms for filling




11   out expenses.




12             MS.  RAMSEY:   No.




13             Who needs  the other forms?




14             MS.  MOON:   I  need  the  travel voucher.




15             CHAIRPERSON BENDIX:  In  view of these issues that




16   have been  coming out about the adequacy of  documentation,  I'm




17   interested in knowing whether the  members of the committee




18   would  have any interest in passing a resolution urging OPTS1




19   staff  to examine opportunities for limiting documentation  as a




20   means  of expediting  the rulemaking process.




21             Is there any  sense of  the  members at this point?




22             DR.  EISENBERG:   Maybe  that's something we can talk




23   about  with Steve when he  comes in  this afternoon.




24             CHAIRPERSON BENDIX:  All right.  We can defer the




25   matter.





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 1             MS.  MOON:  Would you have a specific area that this




 2   recommendation could go to?  I remember looking at our files




 3   pile and we sort of went, "Oh."  I have a very strong feeling




 4   that there was a lot of concern about this big pile, be it •




 5   from the industrial standpoint or any other standpoint, that




 6   we felt they had done an overkill on this.




 7             MS.  RAMSEY:  There are a lot of different chemicals




 8   that they were addressing, and it wasn't just for one.




 9             MS.  MOON:  I'm just referring back.  That was the




10   conversation and the presentation we were all groaning about.




11             CHAIRPERSON BENDIX:  My understanding is that 500-




12   page package was condensed from a 1000-page earlier version,




13   and my question would be:  If that 500-page document was fur-




14   ther condensed down to 200 pages, would we have something that




15   might be even more effective and more clearly point up what




16   the clear issues are?




17             MS.  RAMSEY:  Can we talk briefly about our agenda




18   recommendations?




19             MR.  BARAM:  I don't think you have enough committee




20   membership here to pass a recommendation.  And, also, I don't




21   knoxv if these papers are slowing everything down.  That's a




22   different issue.




23             CHAIRPERSON BENDIX:  That's true.




24             MS.  MOON:  I think you're going to have to wait for




25   Dr. Radford to get back.  You have to get Lou up here.






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 l             CHAIRPERSON  BENDIX:   Informally,  does  anybody have




 2   any  suggestions  for an agenda  for  the  next  meeting?




 3             In particular,  I would like  to  know if anybody has




 4   any  ideas  for  other issues which might be suitable  for the




 5   kind of  format we  had  this morning,  which I think was  very




 6   helpful.




 7             MR.  MOONEY:   That  was very helpful,  and I  think, in




 8   tying back to  it,  we had  a document  in our  package.   It didn't




 9   end  the  discussion, but it's the EPA contract or, at least,




10   the  communication  from —




11             MS.  RAMSEY:   That  was the  strategy that was  the re-




12   suit of  the retreat.




13             MR.  MOONEY:   No, not the strategy document,  but Judy




14   Nelson's document  to Joseph  L.  Kirk  of ICB, Incorporated which




15   authorizes this  economic  study relative to  TSCA. It fits on a




16   track that is  going to apparently  lead to all tasks  completed




17   by August  30,  1980.




18             And  I  wonder if this is  something we might want to




19   at least track in  our  meetings with  periodic updates from Judy,




20             MS.  RAMSEY:   Judy  was not  able  to come today.




21             MR.  MOONEY:   It's  a  document called -- Well, it is




22   a letter.




23             MS.  RAMSEY:   Where was that?




24             MR.  MOONEY:   I've  got so many papers in here.




25             CHAIRPERSON  BENDIX:   I think it was in the package





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    you sent out to us yesterday.




              MS.  RAMSEY:   That was in the PMN package.




3             MR.  MOONEY:   Oh,  it's in Blake's package.




4             In any event,  it's a communication of November 10




    from Judy Nelson to Joseph L.  Kirk of ICF, Incorporated in




6   regard to TSCA Order Number 3, Contract 68-01, et cetera,  but




7   it's basically dealing with an economic analysis, a number of




8   important aspects of TSCA implementation, and it is generally,




9   it would seem to me, to be appropriate to the subject we were




10   talking to today; but more specifically focused on TSCA.




11             MS.  RAMSEY:   Would you see a discussion like that




12   being a part of a subgroup on testing and PMNs, or do you see




13   that as being something broader that the committee should




14   address?




15             CHAIRPERSON BENDIX:   What is the nature of this




16   contract?  Is it covering just a PMN or more generally?




17             MS.  RAMSEY:   New chemicals isn't it.




              MR.  MOONEY:   It's develop a work plan covering all




19   substantively gathered data, gather data by literature searches




20   et cetera, to conduct analysis of the PMN requirements, assess




21   the feasibility of developing a methodology for doing formal




22   economic impact analysis, conduct the economic impact analysis,




23   and analyze it.




24             i think the net of it is the PMN focused economic




25   study.





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 l             CHAIRPERSON BENDIX:  It sounds to me like something

 2   that  might be worth having a progress report to a subgroup and

 3   have  the subgroup evaluate whether it was something that ought

 4   to  be brought to the committee as a whole.

 5             [Discussion off the record.]

 6             WHEREUPON, at 1:00 p.m., luncheon recess was  taken,

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                           AFTERNOON SESSION




                                                         2:00 p.m.




              CHAIRPERSON BENDIX:   I would like to ask the commit-




    tee members if the committee members could return to their




 5   places.




 6             I know Mr.  Jellinek has a very busy schedule.




              Welcome, and we're looking forward to hearing the




 8   latest about the hearings you've just come from.




 9             MR.  JELLINEK:  First of all, let me apologize and




10   extend Costle's  apology for not being able to be here.  He




11   is, this  week, I think having to testify five different times




12   in hearing or appearing for hearings all week.




13             He has to make sure that we work something out for




14   the next  session, of this next meeting of the group so he can




15   attend.




16             When is the next meeting?




              MS.  RAMSEY:  The 19th and 20th.  You are going to be




18   in Paris.




19             MR.  MOONEY:  Of course, we could meet you in Paris.




20             CHAIRPERSON BENDIX:  If you want to take us with you,




21   we'll reluctantly consent.




22             MR.  JELLINEK:  We will get together with Doug as




23   early as  possible.




24   ASSESSMENT OF TSCA IMPLEMENTATION AND DIRECTIONS




25             MR.  JELLINEK:  The hearings today were before the





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 1   Senate  Appropriations  Committee  as  chaired by Senator Proxmire




 2   and we  were  extremely  uneventful as far as the Toxic Substances




 3   Control Act  goes.




 4             I  didn't get one question because they go through the




 5   budget  document by program as the programs are displayed in the




 6   document,  and Toxics is toward the  end of the document.   So




 7   they'll be to us tomorrow.




 8             But Senator  Proxmire is probing - in his questions,




 9   he's concerned about waste and the  efficient, effective  use of




10   the taxpayers'  dollars, but he also has been historically a




11   very strong  supporter  of EPA and EPA's objectives.




12             Two weeks ago, we appeared before the House Appro-




13   priations  Subcommittee and it is always hard to predict  how




14   these things go, but I came away feeling fairly good about it.




15             They were concerned about our ability to hire  up to




16   our projections, and we have not been able to do that the last




17   couple  of  years and they have been  somewhat concerned about us




18   being overly optimistic.




19             This time, we gave them a very detailed assessment




20   of what we thought we  could do on our hiring and our spending,




21   and we  think we can fill all of the positions that were  auth-




22   orized, but  we don't think we can spend all of the salary




23   money that goes with those positions, although we think  we




24   have the numbers looking, very good  to justify that we think




25   we'll get  around to about 95 percent of the salary money; or,






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 1   the way it's expressed in the budget, full time equivalents.




 2             We'll get about 95 percent for that.




 3             Today, as of Friday, we had 423 on board and we are




 4   authorized something close to 500.  So we still have 80 or so




 5   vacancies, 75 vacancies or so.  But we have a lot of commit-




 6   ments out.  So we think we can get a lot closer this year to




 7   making our projections for our budget and hiring than we did




 8   in previous years.




 9             DR. RADFORD:  Steve, is this a general problem?




10             MR. JELLINEK:  It's a problem with the agency, yes.




11             It's a worse problem with new programs that have a




12   lot to do and it's been aggravated by a couple of freezes and




13   by our lousy space conditions which some candidates look at




14   and decide they would rather work for National Cancer Insti-




15   tute or for private industry or for academia.




16             I don't have anything in the way of a report, but I'n




17   prepared to answer a broad range of questions in detail,




18             CHAIRPERSON BENDIX:  I would like to start by asking




19   a question which may be premature.  You may not know the answer




20   yet.




21             But do you have any sense of what the affect on EPA




22   and, in particular, on OPTS will be with the new presidential




23   directives at budget cutting?




24             MR. JELLINEK:  The bulk of the FY fiscal year 1981




25   reduction in budget outlays will be taken out of our major






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 1   construction  grant  program  so  that  the  operating  programs of




 2   the  agency will  suffer  only minor cutbacks,  comparatively




 3   minor  cuts.   Everyone will  suffer some  cut.




 4             The details have  not yet  been worked  out,  but frankly




 5   compared to what other  agencies are experiencing,  EPA has I




 6   think  been very  effective at persuading the  Office of Manage-




 7   ment and Budget  that the agency generally  -  the agency's oper-




 8   ating  budget  is  generally a very tight  budget and there is not




 9   a  lot  of fat;  that  the-agency,  over the past two  or three years




10   has  done a tremendous amount of reprogramming within its base




11   to cover major increases in new programs.




12             Most of the increase in the toxics programs has been




13   taken  out of  the hides  of other programs  in  the agency, and




14   many of the shifts  and  increases in other  priority programs




15   have been taken  from base programs.




16             They are  not  non-important programs,  but just pro-




17   grams  which just represent  the fact that we  could not go to




18   Congress every year with a  huge marginal  increase.  There is




19   just no way we can  get  it,  either from  Congress or the Presi-




20   dent.




21             So  we  have made changes and shift  in  our own base.




22             DR.  EISENBERG:  Just as an aside,  that  construction




23   grants program - are the funds just being  impounded,  or are




24   they being cut substantially?




25             MR,  JELLINEK:  What  is happening is,  it is a fairly






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 1   complicated formula which I am sure will be explained in de-

 2   tail to the states, if not already within days,  but it in-

 3   volves, primarily,  deferring obligations in 1980 in order to

 4   cut outlays in '81.

 5             There are a couple of complicated accounting prac-

 6   tices involved which I can't explain with any precision, but

 7   the means of carrying out this cut in '81 outlays will pri-

 8   marily involve deferrals of funding for construction grants.

 9             MR. BARAM:  I read recently about the National Toxi-

10   cology Program over in HEW.

11             Is there  any attempt anywhere in government to weave

12   all of this together somehow so that it is the most efficient

13   support for this program?

14             MR. JELLINEK:  I think the National Toxicology Pro-

15   gram represents a very clear attempt at the weaving.  I mean,

16   it's a major part of the fabric.

17             EPA is a  member of.the executive committee of that

18   program and I represent EPA on the executive committee as an

19   alternate to Doug.   Doug is the official representative and

20   attends most of the sessions.

21             We participate in not only setting the policy for

22   the committee, but  the staff participates in selecting chemi-

23   cals for priority testing and we try to balance those that
                        k
24   ought to be tested  using government funds versus those that

25   should be tested using private funds.


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             We  try  to balance our  ability  to  act  on  the  testing




    and  the  timeliness of  our  actions  versus the  timeliness  of




    their  actions.




 4            So  I  think the program was  set up to  meet  regulatory




 5  -agencies' needs.




 6            One of  the major needs we have beyond the  testing  of




 7   chemicals is  the  development  of  new test methods and the val-




 8   idation  of  emerging, sometimes even existing  test  methods.   We




 9   have been working to make  that a major  function of the toxi-




10   cology program  because we  just see the  need for developing




11   it for promulgating under  Section  4 good, effective, hopefully




12   cost-effective  methods for testing chemicals  when  we ask in-




13   dustry to test  under the test rules.




14            The research community and  the government  and  aca-




15   demia  should  be mobilized  to  help  us  by developing and valid-




16   ating  those.




17            MR. MOONEY:   Steve, from the  standpoint  of dis-




    ciplines in your  hiring process, are  there  any  obvious places




    where  we're having difficulty or it is  across the  board  in




20   terms  of your staffing?




21            MR. JELLINEK: I think we're  having the  most —




22   Pathblogists  are  just  about out  of the  question.  So we  have




23   decided, over a year ago,  to  get most of our  pathology done




24   through  consultants who contract.




25            We  are  having pretty good luck with toxicologists  and
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 l   other biological scientists and .chemists.  I would say the big

 2   gest problem - there are three big problem areas: economists;

 3   industrial chemists, that is people with real industry know-

 4   ledge; arid chemical engineers, also, people that can under-

 5   stand the hardware side.

 6             So we have been doing better at that lately than we

 7   had in the past, in the earlier part of our program.  But I

 8   would say, at this point, it's not the toxicologists or the

 9   biochemists or the biologists who are the problem.  It's

10   getting experienced chemical engineers, industrial guys, and

11   good economists.

12             Economists are a dime a dozen.  Good economists are

13   a different story.

14             CHAIRPERSON BEMDIX:  That is what I was going to

15   ask.

16             Is it your problem that the average economist doesn't

17   know anything about the chemical industry and the kinds of

18   problems you have to deal with?

19             MR. JELLINEK:  I can't go into detail on that aspect

20   of the problem, but we are trying not to compromise quality or

21   standards.  We have been trying to attract very well-qualified

22   economists and operations research staff, also, that ilk.

23             DR. SLESIN:  Would you like to talk about the re-

24   organization package?  I have some questions.

25             Maybe you would tell us, first, what you were


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 1   thinking  about when  you decided  to  embark  on  this  and  get
                                                      \
 2   into  specifics.

 3            MR. JELLINEK:  Well, there  are two  major reasons  for

 4   the reorganization.

 5            One was  that it  just had  become  very  obvious to me

 6   that  a  trifurcated situation  was essentially  inefficient and

 7   adding  time  to the production of decisions.   It was engender-

 8   ing a certain level  of attention that might not otherwise be

 9   there,  and it was  overforcing too many decisions backward to

10   me that really should have been  made  by officials  at lower

11   levels.

12            The DAAs each had a right of thinking of themself

13   as doing  a very  important  job in most other agents.  DAA has a

14   total hegemony over major  law or .a  major  section of a gigantic

15   law and can  organize and direct  and manage and  make basic pol-

16   icy on  his or her  own, getting general policy guidance and

17   directions from  the  Assistant Administrator.

18            In the case of the  toxics program,  because the Act

19   is an organic act  and because you can't separate one section

20   from  another and expect it to carry out the objectives of the

21   Act effectively, the three-headed DAA-ship has  lead to more

22   problems  that it was worth.

23            And I  just decided, after a lot  of  agony, thinking

24   that  even though reorganizations are  disruptive,  that  this  one

25   would be  an  intermediate one  and certainly the  long run.  I


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 1   hope the intermediate run and maybe even the short run are




 2   major positive moves in terms of getting things done more




 3   efficiently and more quickly under TSCA.




 4             The second reason why, frankly, to elevate the level




 5   and the importance of the integration function, particularly




 6   and especially as it relates to the integration across various




 7   agency programs of chemical issues and problems.




 8             And, for that reason, that function is proposed to




 9   be located in my office with a significant staff support.




10             So those are the two major reasons.




11             Once we made those changes, then we made a number of




12   other changes that we thought made sense; but, for the most




13   part, most people in the program will be working on the same




14   things that they were working on before the reorganization and




15   will be working for the same immediate supervisor that they




16   were working with before the reorganization.




17             Just to summarize, to make it more efficient, to make




18   administration of TSCA more efficient, and to give more sta-




19   ture emphasis to the integration function.




20             DR. SLESIN:  As you know, some of our concerns re-




21   volve around the ITC list and meeting those deadlines, and now




22   we see that Warren will have a great deal more responsibility




23   following up all of the other rulemaking activities under the




24   various sections of the Act.




25             Are you going to take some load off Warren to






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    facilitate  test  rule  development?




 2            MR.  JELLINEK:   Let me  answer  that  question this  way.




 3            I don't  think  that the problem that  we've  been having




 4   with  Section 4 is  a management problem.   I think  it  is either




 5   a  legal problem  or there's  a problem  of going  down one basic




 6   policy approach  towards  Section  4  as  opposed to what might be




 7   alternative policy approaches that might result in being able




 8   to test chemicals  more quickly.




 9            I frankly think that,  without the  reorganization, if




10   we kept doing test rules the way we've  done  the first test




11   rule, it  would take too  long.  It  was just unacceptable.




12            We are going to have to  figure out ways to get AMRPN




13   or notices  out more quickly with less work for ITC or we're




H   going to  have to figure  how to approach testing chemicals  in a




15   completely  different  way.




16            DR.  SLESIN:  I heard you speak in  New York about no




17   decision  being a decision,  and I must say I  like  to  hear that




18   and applaud that.




19            But what you're saying is you're going  to  have to




20   find  new  ways of thinking through  these problems  and a new




21   policy direction for  the program,  which I also agree with.




22            But new  direction and  policy  means new  thinking, and




23   I'm sure  that means time.   And if  Warren is  directing that,




24   surely does that make a  difference if he has to make decisions




25   on 14 other ruling procedures?





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 l             If you are starting down a new road,  is the ball




 2   game still in Warren's court?




 3             MR. JELLINEK:  You know, as a DAA,  Warren is going




 4   to have to play and will be playing a major role in developing




 5   new policy.   He will be spending proportionately less of his




 6   time on Section 4.   There is no question about that.  But the




 7   kind of time he spends on Section 4 will not be the kind of




 8   time he has been spending on Section 4 up until now.




 9             He's been spending a major portion of his time and




10   been in the trenches on various issues.




11             He is going to have to distill his time and focus it




12   on the policy direction because he's not going to have any




13   other choice.  He's going to have to do other things.




14             He's going to have to upgrade the quality of his




15   attention, the percentage of his attention that he gives to -




16   Section 4.  It's going to have to be high quality attention,




17   and Joe Mirinda and Al Hertz are going to have to do more of




18   the implementation of the policy.




19             DR. RADFORD:  Steve, I know that you did not men-




20   tion, you had difficulty in recruiting epidemiologists.  And




2i   I wonder if you would say a word about the role of humanist




22   studies in TSCA and implementation, and whether you see that




23   as significant.




24             MR. JELLINEK:  Well, we have that trouble recruiting




25   epidemiologists, particularly senior epidemiologists to meet






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    the mission of the branch on epidemiology.

              I can't respond in detail as  to the  role  of  human

 3   studies.   They are extremely important  and,  as you  know,  they

 4   are the best  studies we can get when we can  get them and  if

    we can get them.

 6             But I don't  see them as  having any less important

 7   role  than  other major  aspects of science.  It  is extremely  im-

    portant and the more we can get out of  epidemiology, the  bet-

 9   ter cases  we  can make  and the more certain will be  out ability

10   to act.

11             Epidemiology is playing  a major role in our  asbestos

12   proceeding.

13             DR. RADFORD:  That is one where the  epidemiology  was

14   already in place.  I am concerned  about what I perceive may be

15   overstating the case,  but I see numerous golden opportunities

16   for evaluating human effects, effects on human populations  on

17   a .variety  of  agents that we don't  have  an epidemiological base

18   on, and I  see the Act  as providing a wedge for the  acquisition

19   of this data, which has not even existed under OSHA.

20             MR. JELLINEK:  Could you be more specific?

21             DR. RADFORD:  I think —

99             MR. JELLINEK:  The acquisition of  data that  already

23   exists, or the imposition of studies?

24             DR. RADFORD:  The acquisition of the data, primarily,

25   or making  records available in order to sustain the claim that


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    no harm exists or whatever.

              MR.  JELLINEK:   I think there are both opportunities

 3   in general and it is an  area that we want to do more in and

 4   will do more in as we begin to attract --

              We essentially have one or two epidemiologists on

 6   board,  but I could be slight out of touch and I might be a

 7   month or two off, and the one that we have on board in the

 8   TSCA program is also working in a third to half of his time

 9   helping the pesticide program, in particular helping us on

10   2,4,5-T.  So we are thin.

              It is a well-deserved criticism if there's a criti-

12   cism, but I know it's a  constructive one.

13             DR.  RADFORD:  It's not really intended to be.

14             DR.  CAIRNS: Steve, I don't have any clear picture of

15   what happens after- you impose a testing requirement.

16             Let us say there are nine manufacturers and two hund-

    red processes, arid you decide that thing has to be tested for

18   carcinogenecity.  What do you do now and what do they do?

19             MR.  JELLINEK:   I can't answer that in detail.

20             DR.  CAIRNS:  But you can tell me what you will do.

21   You notify all nine plus three hundred processors.

22             MR.  JELLINEK:   I frankly have not been involved, at

23   this point, in the details of the reimbursement and exemption

24   procedures.

25             DR.  CAIRNS:  We have some stuff and I read it, and


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 1   it's  sort  of  a  policy  of  mine.




 2             MR. JELLINEK:   That's  part  of  it,  but we've got to




 3   come  out with a regulation  on  reimbursement  and I  think those




 4             DR. CAIRNS:  Who  decides  who tests?   Not all three




 5   hundred are going  to have to run tests.




 6             MR. JELLINEK:   No.




 7             I can't  answer  that  question.




 8             DR. CAIRNS:  What you're  saying is,  I think, that the




 9   issue will be forced when you  face  it, so to speak.   You will




10   have  to decide  what to do when you  actually  put out a test




11   case.




12             MR. JELLINEK:   That  issue will be  dealt  with through




13   the reimbursement  proceeding because  that is the regulation by




14   which we decide to test,  deciding who pays for the test.




15             DR. CAIRNS:  Suppose somebody  decides not to test?




16             MR. JELLINEK:   They've got  to  test.




17             DR. CAIRNS:  Well, the way  I understood  it, somebody




18   has to test but somebody  has to  decide who that is.




19             MR. MOONEY:  Ted, I  might mention, there has been a




20   major filing  with  the  agency by  CMA addressing some of those




21   compensation  issues, and  there are  a  lot of  open questions, I




22   guess, that will have  to  come  down  to specific rules in the




23   final analysis.




24             MR. JELLINEK:   In the  final analysis, everybody's




25   going to have to test  unless they can figure out to have





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somebody test.  It's going to be in the best interest so that




everybody doesn't test.




          I have read some of those comments that CMA sent in




to our AMRPN on reimbursement.  There was an awful lot in there




that was encouraging in terms of the industry's apparent recog




nition that they're going to have to get together and figure




out how to efficiently use the testing facilities and resource




available.




          MR. MOONEY:  It's really kind of enlightened self-




interest.  The burden is on the industry group to get its act




together and figure out how to do it.




          The alternative in the final analysis, then, is the




agency telling industry how to do it.




          I think it will sort out that industry has done many,




many testing programs on a cooperative basis.  I am optimistic.




          MR. BARAM:  Steve, this morning Toby Clark, Nick




Ashford and Dave Harrison put on a very good discussion with




us.  In fact, the two-day meeting has just been superb thanks




to Marsha and you and the resources.




          MR. JELLINEK:  Mostly thanks to Marsha.




          MR. BARAM:  Toby mentioned that, in the new regime




for regulation or regulatory decision-making in the agency,




Toby's responsibility in OTS is to deal with the cost side and




that the benefit side comes from Warren Muir, who is evaluating




risks, more or less; and that ultimately the tradeoff or





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 i   decision is made by you.




 2             I don't know whether that actually happened or whe-




 3   ther that is hypothetical for the future.




 4             But,  in any case,  can you tell us how you're going




 5   to play God on  these kinds of decisions?




 6             MR.  JELLINEK:  Well, Costle is going to play God.




 7   I'm not going to play God, yet.




 8             We are trying to get some things delegated to me, but




 9   until those delegations,  Doug is God, and certainly on the big




10   decisions, he will.




11             But I don't recognize the construct that you're tell-




12   ing me.




13             MR.  BARAM:  That's what Toby said this morning.




14             MR.  JELLINEK:  The responsibility for developing both




15   the benefits of regulation,  in terms of the risk reduced, and




16   the cost of regulation, in terms of the economic impacts and




17   other social impacts associated with that risk reduction, and




18   the development of in essence the data that leads to a recom-




19   mendation of unreasonable risk or not is all within, I assume,




20   the Office of Toxic Substances under Warren.




21             It is an integral process that will be contributed




22   to by the various functions, the functions under Warren.  The




23   final decision, the weighing of the various options and ana-




24   lyses, will be done by Costle and myself.




25             The mechanism for doing that will be fairly formal






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decision processes that will eventually end up in very formal




things called regulations.




          But that process involves an analysis of an assess-




ment of risk and of benefit, and a kind of simultaneous weigh-




ing of them using both objective and subjective means.




          MR. BARAM:  Yes, that came through also in discussion




the need to deal with both objective and subjective kinds of




information.




          I guess what is of interest would be what consti-




tutes a proper distribution of cost and benefits.  Distribu-




tion of the issue seems to be a nagging question and must also




be troubling to everybody involved.




          MR. JELLINEK:  The distribution process is one of




the toughest in this whole thing.




          MR. BARAM:  Where the impacts are going two-fold one




way and the benefits are on the other side.           '




          Are there any guidelines?  Do your formal decision




guidelines have any guidance?




          MR. JELLINEK:  I don't know.  It doesn't yet.  It




may.  There are some very thoughtful people that are working




with us and trying to help us define unreasonable -risk, if not




develop approaches to unreasonable risk that could involve




decision rules of one kind of another.




          It may not be, and I will be.surprised if they would




be totally objective decision rules.  They may be decision






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 1   rules  that  involve  ways  of  approaching  data  or  ways  of  looking




 2   at different  values as opposed  to  equations.




 3            So  we  are struggling  with that issue  and are  asking




 4   some very bright and thoughtful people  how this thing,  it grew.




    But until we  come up with some  formal way of defining or




 6   approaching unreasonable risk,  we  are going to  have  to  do the




 7   best we can to tote up risks and benefits through a  series of




 8   mental interactions and  decide  what xve  think is the  right




    action on a particular chemical.




             MR. JELLINEK:   We do  that regularly in the pesticides




11   program and I think the  toxics  program  will have many similar-




12   ities, and  already  does, in the new chemicals area.




             We  are making  decisions  on new chemicals almost every




14   day, certainly with respect to  whether  there is enough  infor-




15   mation or not and what to do about it.   And we  will  be  making




    decisions under  Section  6 in TSCA  in the same manner.




             CHAIRPERSON BENDIX:  Dr. Eisenberg?




18            DR. EISENBERG:  Steve, I have two question, but the




19   second one  would probably lead  out of the answer to  the first.




             In  the PMNs, one underlying limit seems to be that




    you don't seem to be getting enough information for  you to be




22   making any  kinds of valid judgments, and your people then take




    the course  that  since the information isn't provided to a large




24   extent, it  is not up to  us to look at homalogs, to look at ana-




25   logous compounds, search the literature ourselves, and  normally





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    your time runs out.




              All you spend your time on is a certain number of




    ends and the others  run out.




              Have you considered perhaps hitting a company with




    your first 5(e)  action and then perhaps, after that point in




    time, you might be getting the information you need in the




    first place?




              MR. JELLINEK:  Well, first of all, we have received




 9   as of yesterday 83 PMNs and something like - I'm not sure




10   about this figure, it could be one or two higher - something




11   like 17 or 18 have finished the review process, totally fin-




12   ished the review process.




13             We don't think that any one of those that has com-




14   pleted the review process poses an unreasonable risk to the




15   health and environment, hazard risk, as it is proposed to be




16   used.




17             We are not getting as much information on these




18   notices as we thought we would get and as we think we should




19   get, and we intend to do a number of things about that.  We




20   are going to be taking 5(e) action, but will take 5(e)  action




21   only in a situation where we believe we can sustain that




22   action.




23             In many of the cases that have already passed through




24   the system, even if a chemical had little or no data with it,




25   either the nature of the chemical itself or the use of the






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   chemical was such that it would be very difficult  to  sustain  a




   finding that that chemical was going to cause  the  problem.




             DR. EISENBERG:  The point is, Steve, where  you  put




   the burden of proof.  If you leave the burden  of proof  with the




   agency, that the agency has to make that  determination, or  you




   put burden of proof on the industry whereby  they have to  make




   a  determination to tell you, "We  feel this is  sufficient  infor-




   mation because of - - - "




 9            MR. JELLINEK:  If I had my druthers, I would  love to




10  have  the burden of proof on industry throughout TSCA, but we




11  don't have that luxury.




12            I agree with you that I think the  5(e) action will




13  generate some response on the part of other  submitters, and I




14  agree with you, it would have been nice to get more  information




15  on most of these chemicals that we have not  been given  much




16  information on.




17            I don't agree with you  that we  ought to  tilt  it at




18  chemical windmills on 5(e).  I think we should win the  first




19  5(e)  case because we know it's going to be challenged and,




20  frankly, as long as I can justify to myself  that even though




21  it takes some staff work, that the ones that are passing




22  through the system don't pose unreasonable risk, then I think




23  it's  worthwile, as a strategic matter, waiting for a  5(e) that




24  we think we have a good chance of winning.




25            If.we don't win the first one,  the downside risk  of





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that is very significant and would be tremendously significant




to the implementation of the Act.




          The fact is that in almost every instance in the bur-




den in TSCA is, in one way or the other, on the agency and not




on the industry.  Outside of 8(e), in most cases the agency




has had to make findings and had to support those findings.




          There findings are more or less rigorous in differ-




ent portions of the Act, but the Congress did a fairly good




job of giving the agency some fairly significant burdens in




carrying out its mandate.




          The other thing we're doing is we are going to be




coming out later on this year with guidelines:  "Here is what




we think you should be doing, in general, as a mimimum."  I




think that will help, too.




          DR. EISENBERG:  My second question - and as we pro-




ceed on these meetings, Steve, I'm going to be taking up at




least the state's role in many of these areas.  I'll, perhaps,




just address the PMN side now and that is, is there any way




that notice of these PMNs can go to the affected states so




that they would be in a position to start preparing themselves




for a number of reasons?




          Number one, even some of .the questions that are




addressed in the PMNs refer to things such as disposal method.




I've looked through some of these things and it says, "Dis-




posal method.  Bury it."  "Disposal method.  Incineration."






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 l             There  is  no  way  that  you,  here at headquarters,  are




 2   in  any  position  to  judge whether,  in fact,  there are any




 3   acceptable sites in the area that  this firm is located in  to




 4   either  incinerate or landfill,  or  whether where they intend to




 5   take  it is an  acceptable site in the first place.   There's no




 6   way you can judge that.




 7             From what I've seen,  the only judgment is made,  is




 8   there is something  filled  out in that space.




 9             Also,  from a state standpoint, the states will wind




10   up  permitting  the process.   Many will wind up with the missions




11   The state will be involved in any  enforcement action that  is




12   taken through  one of the other  EPA Acts.




13             For  example, certainly from the monitoring standpoint




14   the environment  as  well as the  occupational exposures.




15             What I'm  really  after:  Is there any mechanism by




16   which the state  can get involved,  just whether it's from a




17   review  or from an early warning standpoint?




18             MR.  JELLINEK: That's a  very reasonable point.




19             My understanding of the  processes is that we would




20   do  more than take a look at the box on disposal when we're




21   considering the  risks  of the substances.




22             As a matter of fact,  when we go back we go to feed-




93   stocks  all the way  through disposal and degradation products




94   and byproducts,  and things like that.




25             But  what  I would be glad to do - and I don't know if






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 1   you  have  raised  this with  anyone  else  you've  talked  to  this




 2   week,  but what I would  be  glad  to do is  see what kinds  of




 3   opportunities there are for  us  to notify the  states.




 4            DR. EISENBERG:   Where I'm coming  from,  Steve,  is




 5   presently,  some  of the  states,  what they are  doing -  in fact,




 6   the  legislatures in some of  the states are  requiring  this -




 7   whereby,  before  new industry comes.in  or before a new process




 8   within an existing industry  starts up, if there are  any by-




 9   products  formed  by the  process  which need disposing  of,  unless




10   we know what method of  disposal,  unless  we  know the  method is




11   an acceptable one, the  process  doesn't start  in the  first place




12            MR; JELLINEK: I think  that's  something we  ought to




13   look into and perhaps have someone work, or at least  work with




14   you  on.




15            One of the problems we'll have to overcome  is the




16   confidentiality  problem.   We .don't have  authorization to share




17   confidential information with states as  the Act is written




18   unless you  become our contractors, but that's something we have




19   to work out.




20            DR. SLESIN:   Do  you feel somewhat uncomfortable




21   sitting up  there telling us  that  none  of these pose  unreason-




22   able risk given  that the exposure data that is provided is




23   very preliminary in the sense that it's  just  starting up of a




24   chemical  in the  first couple of years  of production;  given




25   that,  according  to the  statistics, you've given us 50 percent






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 1   of the toxicological data and 75 percent of the mutogenicity?




 2             We'll, look at an Ames test and we'll say, "We'll




 3   definitely do that.   We can definitely do that."  And I know




 4   the triple-A asked you, saying they were very disappointed




 5   about the statistics.




 6             But don't you feel a little queasy about it?




 7             MR. JELLINEK:  I would feel better if I had more




 8   testing data, but the fact is that some significant portion of




 9   those first 17 or 18 that we been through are high molecular




10   weight polymers; and, as a general rule, they are not a pro-




11   blem and we would be hardpressed to stop that chemical and




12   then to tell a judge how that thing is a problem.




13             It would be very difficult for us to tell a judge




14   how that is a problem, to demonstrate it.  That is the kind




15   of situation that we have found so far.




16             Now, there may be others in that first group that




17   are not a high molecular weight polymer.  There are other




18   things that, in one way or another, we rigorously evaluated




19   and decided that either it was almost certainly not a problem




20   or the factual situation was a little too soft for us to make




2i   this case.




22             DR. SLESIN:  From us looking in, it's very hard.




23             I must say, your generic usagy that you've given us




24   doesn't have polymers in it.  A good 30, actually over 40 per-




95   cent of these don't even - we're not even told what the usage






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 l   is.  It's either confidential and intermediate or no generic




 2   use.




 3             I know your preliminary rules say you won't require




 4   a generic use, but obviously this is not in compliance with




 5   that voluntary.  So it's hard to look in from the outside and




 6   say, "Yes, these are not a problem," because we don't even




 7   know that.




 8             MR. JELLINEK:  I don't blame you for being skeptical.




 9   I'm not entirely comfortable, by any means, but I was answer-




10   ing the implicit point in Max's question, that we may have beer




11   letting through some things that are real problems.




12             I don't think we have.  I could turn out to be wrong,




13   but I don't think we have.




14             One of those chemicals that came through with no




15   data, which does not appear to be a problem in its present use,




16   we are going to SNUR to make sure that if it is every used in




17   another application we have another shot at it.




18             DR. CAIRNS:  Steve, of these 40-odd that had no




19   toxicological data, can you recall how many should have had




20   some and how many honestly didn't need them?




21             MR. JELLINEK:  I don't believe we've made that kind




22   of a breakdown.  We don't have those kinds of well-defined




23   criteria.




24             If we thought there really should have been data,




25   that we could defend the case that there really should have






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had data, we would have.

          It would have been nice to have data, though, be-

cause I frankly don't think that the Act contemplates us doing

industry's job for it.  In other words, we're doing the risk

assessment.  There's no evidence, in many of these cases, that

many of these companies are doing any risk assessment at all.

          They are not trying to figure out what the impact of

the chemicals are.  We are having to do that.  We're doing more

work in some of these situations, particularly the ones we

think are potential problems, than the industry is in many of

these cases; and we've had relatively few example of chemicals

that have come in where it's clear the industry has taken —

          I've heard some people in industry call it a products

approach where they've tried to figure out of it's a chemical

problem or isn't it.  Should we test it more, or shouldn't we?

Should we know more about this and that?

          Those have been the real minority of cases.

          MR. MOONEY:  Two questions, Steve, unrelated, one

back on the organization chart.

          What is the status of this, at this point?  Is this

organization operable at this point?

          MR. JELLINEK:  Did Henry Beal explain to you the

agency process?

          MR. MOONEY:  We talked regulations.




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 1             MR.  JELLINEK:   Well,  there's a similar process for




 2   organizational change,




 3             MR.  MOONEY:   Don't misread my question.  I'm not




 4   asking you for too much,  no charts or anything.




 5             MR.  JELLINEK:   No, I  don't want to give you any




 6   charts.




 7             Major organization changes Have to go through the




 8   process, and let me describe it to you.




 9             We have done a lot of homework on this reorganiza-




10   tion-and have set out a schedule that we think will lead to




11   approval of the reorganization in record time and, unless there




12   are some problems that arise that I don't know about, it ought




13   to become effective within another five to eight weeks.




14             MR.  MOONEY:   Okay.




15             My other question relates to your comments regarding




16   reactivating your guideline 10  under Section 5.  Can you say




17   anything about the process by which that will happen?  Will




18   there again be something akin to the issues, the statement




19   that appeared in the Register back.in March when you went




20   through that and when you received comment, and then it went




21   onto the back burner and nothing has been heard of it since?




22             Or will we,  at this point, suddenly see a guide-




23   lines position emerge?




24             MR.  JELLINEK:   Full-blown out of WarrenJs forehead




25   or something.  .






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 1             Well,  first of all,  the March thing has not been on




 2   the back burner.   It's been on the middle burner.  And we have




 3   been working on what might be  good guidelines.




 4             If you are saying, will they come out in some kind of




 5   a proposed form where people will have a chance to comment on




 6   them?,  the answer is yes.




 7             MR. MOONEY:  That is really my question.




 8             MR. JELLINEK:  That's the answer, but they're not




 9   regulations.  We are not going to say, "This is it," when they




10   are final because we think it  would be useful to put something




11   out in  proposals to have people think them.




12             MR. BARAM:.  Steve, what interactions do you see be-




13   tween TSCA and the Clear Air Act on the airborne carcinogen




14   issue?   Are there any important regulatory implications of




15   sorting out authority that has to be worked out?




16             MR. JELLINEK:  We have worked closely with the air




17   program in developing their policy in terms of, particularly,




18   the carcinogen assessment parts of it.




19             MR. BARAM:  Will the regs come out under the author-




20   ity of  the Clean Air Act?




21             MR. JELLINEK:  It's  not going to be under SIP auth-




22   ority.   It's going to be under the NESHP.




23             MR. BARAM:  But there will be a state program under




24   the NESHP.




25             MR. JELLINEK:  The National Emission Standards





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 1   for Hazardous Pollutants,  NESHP.   But they will be controlled




 2   under the authority of that.




 3             DR. SLESIN:   Warren spoke to us yesterday and you've




 4   mentioned the possibility of referring some testing to either




 5   a national toxicological lab or somewhere else.




 6             Now, as you yourself said, the burden of testing




 7   should be on the industry rather than on the government or the




 8   new program.




 9             Are you going to try to farm that cost back to the




10   affected industry?  There's an efficiency argument, which I




11   recognize, if you can do it without going through red border,




12   you might get a test result a little quicker and I'm certainly




13   sympathetic to efficiency.




14             But, also, we wouldn't want to get the whole NTP




15   process doing industry's job at that cost.




16             MR. JELLINEK:  I happen to agree with you on that,




17   Lou, and that's one of the things that disturbs me the most




!8   about the effort and time it has taken to get out a test.




!9             In fairness to the red border process and the rest




20   of the agency,  our  own people and our own scientists in the




2i   toxics program were the ones who decided that, on a profes-




22   sional and legal basis, the law appears to require us to do a




23   certain significant amount of work to make those findings.




24             I: find that being greatly disturbing.  I can't be-




25   lieve that that is what Congress really had in mind on testing,






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 1   and  we've  either  got  to  come  up  with  some  other way to do it




 2   or Section 4  isn't  going to work the  way it's  supposed to work.




 3             Now,  in terms  of getting money back  from industry, if




 4   we test  either  ourselves or through NTP  -  we don't have the




 5   authority  to  do that,  but that might  not be a  bad idea.




 6             The most  efficient  thing to do would be, is there




 7   some efficient  way  for us to  decide what has to be tested and




 8   either get the  authority to have it tested ourselves or in our




 9   own  contract  labs,  and then getting industry to reimburse the




10   government for  that.  That would  be the most efficient way to




11   get  testing done.




12             You would have all  the problems  of reimbursement to




13   deal with, but  you  wouldn't have the  hassle of just going




14   through  the adversary process to get  it  done.




15             DR. SLESIN:  But you said at the outset there - I




16   though mistakenly - there was a  major rethinking.  You did not




17   have to  satisfy the same kind of data requirements that had




18   been sought for the first couple of test rules.




19             MR. JELLINEK:   There will be a major rethinking on




20   that.




21             DR. SLESIN:  Reduction?




22             MR. JELLINEK:   That's  our objective.  We're approach-




23   ing  it in  two ways.   One is to take a look at  the process we're




24   going through now and see if  there's  any way to cut that down,




25   drastically cut it  down, because cutting it down marginally





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 1   isn't going to make much difference.




 2             And the other is to try to come up with totally and




 3   different new ways of getting technical studies.




 4             DR. SUTTON:  Would you like to discuss some of the




 5   alternatives you're considering?




 6             MR. JELLINEK:  We're at the early stages.




 7             One alternative is to take the ITC report and say,




 8   that's good enough a proposal, and get a proposed rule out




 9   within weeks.  Then see what industry has to say.  That would,




10   in essence, be shifting the burden.




11             We've got to analyze whether we can get away with




12   that.




13             CHAIRPERSON BENDIX:  Would you like to comment on




14   that?




15             MR. MOONEY:  I find this an interesting, but not




16   surprising discussion between Lou and Steve on what the Act is




17   all about; and I'll just simply say, for the record, that Sec-




18   tion 5 remains at the best, to my knowledge, a notification prc




19   cess.




20             MR. JELLINEK:  We're talking Section 4, but I would




21   really like to get Tom under oath some time and ask —




22             MR. MOONEY:  What did I do?




23             MR. JELLINEK:  If they really think that Congress




24   contemplated —  If we're doing it, quote, right - and we're




25   going to look into that, but if we're doing it, quote/unquote,






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 1   right,  if Congress really•contemplated  that  EPA  should  spend a




 2   year's  worth of effort,  several  hundred thousand dollars  per




 3   chemical, and  dozens  and dozens  of  person-weeks  per  chemical in




 4   order to decide to propose  that  a chemical should be tested,




 5   maybe,  that just  doesn'.t seem  —




 6            CHAIRPERSON BENDIX:  It seems highly unlikely.




 7            MR.  MOONEY:   I will  respond to that.




 8            My earlier  remark -  the discussion sounded like it '




 9   and  I taped it down and it  did involve  Section 5.




10            As far  as Section 4  is concerned,  I guess  that  there1




11   as much going  on  in court with regard to what the Congress did




12   or did  not intend, and I'm  not very expert in that area.   I




13   think that's one  area this  committee has contemplated where it




14   might do something constructive  in  taking a  look at  that  pro-




15   cess.




16            We probably all agree  on  a general observation, that




17   there is a right  amount of  homework to  be done before a Section




18   4 rule.




19            In more any area  - literature searching, test proto-




20   col, any of the above - we  will  probably have differing opin-




21   ions on where  you would draw the line in any one of  those areas




22   but  I think it is a constructive area to take a  look at on




23   Section 4 rulemaking  just to make a presumption  that the  Con-




24   gress knows what  rulemaking is all  about and wrote a pretty




25   complicated Section 4.






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 1             You can't get rid of it just by arguing that, "Well,




 2   it sure is difficult."  They put it down on paper, and that's




 3   what you're going to have to find ways to deal with.




 4             Conceivably, we could come up with some constructive




 5   thoughts on whether the process has gone too far, taken too




 6   much time in some areas that could be modified.




 7             DR. EISENBERG:  I tend to think that there is a tend-




 8   ency among the staff - yours or mine - when it comes to regula-




 9   tions to try to do as much as possible and try to have as good




10   a case as possible before you go to rulemaking.




11             I think it behooves us, at times, to kind of cut it




12   off a little bit and rely to some extent on the hearing record,




13   and rely to some extent on the interested parties, whether they




14   be industry or the environmental groups, to come forth with




15   some documentation at that point rather than try to have our




16   case thoroughly built before you go to proposed rulemaking.




17             MR. JELLINEK:  I think that's a good point, Max, and




18   that's the kind of thing we're going to look at.




19             But, as far as I'm concerned, I want to get chemi-




20  .cals tested that should be tested and I don't want to just




2i   shift all the time and effort from the preproposal process to




22   the prepromulgation process or to a reproposal process.




23             One of the things lawyers are fond of reminding me oi




24   is that if we were to go to a very thin proposal, then, you




25   know, six months later you're looking at a reproposal and the






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    total  time  lapse  between  when  you decide  to start, the process




    and  when  a  chemical  actually gets listed  is not much differ-




 3   ent.   So  you're going  to  have  to  deal  with all of those.




 4            Politically,  at this stage of the game, I wish we




    had  taken this en route because,  at least, we would have a pro-




 6   posal  on  the street  and we could  argue later.




 7            MR. MOONEY:   There's a  difference between a thin




 8   proposal  and an air  proposal.




 9            If you  want  to  look  at  where the air went, you can




10   look at a number  of  places where  the agency has, I guess, been




11   thorough, but which  would perhaps understate what the agency




12   has  tried to do in working its way through.




13            in some cases,  it's  reached  beyond a fix noted by




14   ITC  that  was of concern.   The  calls for data have not been,




15   for  example, narrowed  to  data  pertinent to those effects that




16   have been cited.   There have been calls for all data and some




    of those  dimensions  are extensions that I think are just




18   exactly the kind  of  thing that people  legitimately take a look




19   at and seriously  question, and then things get all tied up.




20            Whereas, perhaps a narrower' cut on some few chemi-




21   cals with a tighter  inspection of the  data, tighter calls for




22   data that exist —  I  don't know  how the  process might work,




23   but  these are just some things that strike me that might have




24   gotten you  from here to there  faster.




25            MR. JELLINEK:  Those are good points which we're





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 1   going to look into and the question is:  Would they have done




 2   this faster?




 3             DR. SUTTON:  I have a question to go back.




 4             MR. JELLINEK:  Excuse me.




 5             One of the problems is that the chemicals that ITC




 6   gave us, many of them have had a lot of testing done on them in




 7   one way or another, and the more testing they have on them the




 8   more analysis we have had to do or thought we've had to do in




 9   order to decide whether or not that testing has been adequate.




10             MR, MOONEY:  It sounds like we're on the wrong side




11   of the issue if we have too little data, and we're on the




12   wrong side if we have too much.




13             DR. SUTTON:  I want to go back to this question of




14   cost-benefit analysis.




15             We had a very stimulating discussion this morning,




16   Steve, and there were points of view all over the place, as yov;




17   might gather.




18             But one strongly and eloquently presented point of




19   view was that the cost-benefit analysis is a diversionary




20   tactic to slow down the process of regulation, at the worst?




21   and, at the best, that it is misplaced and misguided.




22             MR. JELLINEK:  I can't imagine who took that posi-




23   tion.




24             [Laughter. ]




25             DR. EISENBERG:  It's sort of a simple-minded






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 1   question,  but  it  would  be  useful,  at  least  to  me,  to  hear  your




 2   viewpoint  on whether  or not,  one,  that  process has slowed  down




 3   the  regulatory process  in  the case of toxins so far.




 4             And,  second,  whether or  not any of the judgments that




 5   have been  made in the process thus far  have been usefully  in-




 6   fluenced by the data  available to  you as a  result of  that  pro-




 7   cess.




 8             MR.  JELLINEK: There is  a difference, in my mind at




 9   least,  between cost-  and risk-analysis,




10             Cost-benefit  analysis to an economist means a lot of




11   things  about trying to  measure equivalents, using equivalent




12   terms,  using dollars  as a  measure  of  both cost and benefit, and




13   get  into all kinds of hairy  questions of discounting  and what-




14   ever.




15             To me,  risk-benefit analysis, which  is what TSCA




16   calls for,  means  taking both the risks  and  the benefits into




17   account in making a final  decision on a chemical without neces




18   sarily  going through  some  formal cost-benefit  analysis as  it




19   has  been developed in the  profession  that makes capital in-




20   vestments,  such as major public works projects.  That is where




21   that really came  out  of.




22             I think, in a statute like  TSCA or like FIFFRA where




23   you're  dealing with products that  have  adverse effects but that




24   also have  social  utility,  you have got  to take a risk-benefit




25   approach.





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              Now, the question is, how are you employing those




    factors in your decision-making?  So far, we think we have




    avoided rigid formuli and tried to make the best subjective




    decisions we can using the best objective data at our dis-




    posal.




              DR. SLESIN:  Steve, if you come back from Paris with




    a mandate from OCED for some kind of testing, what are you goin




    going to do?




              MR. JELLINEK:  Well, if we come back from Paris for




10  some testing, we'll have to do something about it.




11            MR. SLESIN:  Are you going to strain the authority




12  of TSCA or are you going to go back to Congress to get an




13  amendment through?  Have you thought about that?




14            MR. JELLINEK:  I think we will initially try to work




15  something through the wall because it's just unrealistic, at




16  this point, to go back before Congress for this year.  That




17  may be something we want to consider next year, but I think if




18  we came back with something like that we would have to try to




19  figure out how to implement it through existing legislation.




20            DR. SLESIN:  You think it is a possibility, in fact,




21  if the lawyer allows you to do that in some way or another?




22            MR. JELLINEK:  With the emphasis on "in some wav or




23  another."




24            One way would be to make the parting of the testing




25  guidelines which --






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 1            Another way would be  to  somehow make  it  into  a  Sec-




 2   tion  4  for  new  chemicals,  but cut  out  some  new  chemicals  so




 3   that  the  rule would  not  apply to all new chemicals.




 4            MR. MOONEY:  If  you do bring it back,  Steve,  be sure




 5   to  bring  the one ton exemption  with you.




 6            MR. JELLINEK:  If you were to totally drag the  mini-




 7   mum premanufactured  data set that  has  been  discussed at OECD,




 8   it  would  include one ton exemption on  intermediates  and other




 9   things.




10            If we brought  it back in that way,  then  one way of




11   implementing it would be to look toward a Section  4  rule  that




12   would apply to  such  chemicals that met those  criteria.




13            CHAIRPERSON BENDIX:   Max, did you have-another  ques-




14   tion?




15            DR. EISENBERG:  Yes.




16            Again, Steve,  I  have  noticed - Marsha just passed




17   out something,  the Federal Register of the  16th of this month




18   and that  was, I think, the reporting guidelines.




19            Wasn't that it,  Marsha?




20            CHAIRPERSON BENDIX:   "Statement of  Interpretation and




21   Enforcement Policy.  Notification  of the Potential Risk."




22            DR. EISENBERG:  I notice you have an  emergency  noti-




23   fication  and an emergency  report,  some of them  based upon the




24   severity  of 24  hours and some of them  are 15  days, whatever.




25            I would hope that since  you  have  raised  the —   You





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    don't have to look at it.




              MR. JELLINEK:   I want to see if I find it.




 3             DR. EISENBERG:  I'm referring to this in conjunc-




 4   tion with your proposed reorganization where you are emphasiz-




 5   ing, at the same time, raising the program integration section.




 6             I would hope that they make it part of their effort,




    too, especially when you talk about the notification of spills




    or anything else - notification be made to the states that are




    involved.




10             MR. JELLINEK:   One of the major roles that the pro-




11   gram integration function is going to have is to work to inte-




12   grate the toxics programs in the regions and to work with the




13   regions, through the regions with the states.




14             DR. EISENBERG:  I point that out only because what '




15   I'm trying to do is just raise the awareness.




16             MR. JELLINEK:   That's a good point, and we have been




17   working to figure out ways to get 8 (e) information out of var-




18   ious types to people who should know about it, including




19   workers.




20             CHAIRPERSON BENDIX:  Does anyone else have a ques-




21   tion?




22             One is brewing here, but let me ask a quicky.




23             MR. MOONEY:  I thought I raised the question yester-




24   day, but yet maybe I didn't.




25             Any contemplated revision - this looks like a






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 l   guidance.   Is that right?




 2             MS. RAMSEY:   I brought that out.   The wrong piece of




 3   paper was  put into your 8(d)  paper;,   That is a replacement.




 4             MR. MOONEY:   My Lord,  this is the old one.




 5             DR. EISENBERG:  I didn't mean to  imply it disappeared




 6   It just appeared on the desk.




 7             CHAIRPERSON  BENDIX:  I have a quick question and then




 8   a more substantive one.




 9             First, you mentioned that you are contemplating




10   SNURing one of the compounds that has come  in on TMN.




11             Do you have  any estimate of how long it's going to




12   take to get that SNUR  out?




13             MR. JELLINEK:  It's already taken two months.  It may




14   be another month or so.




15             Would somebody tell whoever is working on that?




16             CHAIRPERSON  BENDIX:  Should we or shouldn't we ask




IV   at the next meeting, when next we meet?




18             MR. JELLINEK:  You ought to ask one of the journal-




19   ists from  the trade press.  I'm sure they'll know more than I.




20   They get better information, better contacts.




21             CHAIRPERSON  BENDIX:  I think the  appropriate point to




22   end this discussion would be a request on behalf of the com-




23   mittee that you let us know where you feel  currently we can be




24   of greatest help to you, what kinds of policy issues are being




25   discussed  - that don't have to be decided in the next few days,





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    but that you obviously don't have time to interact with us.




              What do you want us to be thinking about in the next




 3   couple of months and how can we be of the greatest help?




 4             MR. JELLINEK:  Do I have to answer that one?




              CHAIRPERSON BENDIX:  Yes.




              You can answer later, also, but what first comes to




    mind?




 8             MR. JELLINEK:  Over the next couple of months?




 9             That's a tough one for me to answer.  I really




10   haven't thought about that.




11             CHAIRPERSON BENDIX:  Would it be easier if I said,




12   over the next couple of weeks, and we can write you letters?




13             MR. JELLINEK:  Let me think about it over the next




14   week or so and get back to you.




15             CHAIRPERSON BENDIX:  Let me say that this is part of




16   a general feeling on the part of the committee that we want to




17   be responsive to your needs in terms of our mandate to give




18   some input on policy decisions, and we need to get some guid-




19   ance from you as to where you need the input at any given time.




20             MR. JELLINEK:  Okay.  Will do.




21             DR, SLESIN: Let me ask a last question.




22             When do you see the final PMN regs getting into the




23   Register?




24             MR. JELLINEK:  I have a good idea on that.  It will




25   be late this year.






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 1             DR. SLESIN:  It will be 1980?




 2             MR. JELLINEK:  We hope.  We are waiting for the com-




 3   pletion of economic analysis.  If we didn't have to wait for




 4   that, we could get it out a lot sooner.




 5             DR. SUTTON:  That's a partial answer to one of my




 6   questions.




 7             CHAIRPERSON BENDIX:  If there are no more questions




 8   from the members of the committee, thank you very much, Mr.




 9   Jellinek.  We appreciate your joining us.




10             We will have a break now, and then it will be time




H   for public comments.




12             MS. RAMSEY:  Why don't you ask for public comment




13   now?




14             CHAIRPERSON BENDIX:  Is there anyone who wishes to




15   address the committee?




16              [No response.]




17            ' CHAIRPERSON BENDIX:  Barring that, is there, anybody




18   of the remaining committee members who wishes to bring up any




19   item for committee action?




20              [No response.]




21             CHAIRPERSON BENDIX:  In that case, I think that I




22   will hold the meeting adjourned.




03             WHERUEPON, at 3:20 p.m., the meeting was adjourned.




24




25






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2

3                     REPORTER'S CERTIFICATE



    DOCKET NUMBER:

    CASE TITLE:    Administrator's  Toxic Substances Advisory Committ

    HEARING DATE:  March 20,  1980

    LOCATION:      Washington,  D.C.

9

10        I hereby certify tha,t the proceedings  and evidence

    herein are contained fully and accurately in  the notes

!2   taken by me at the hearing in the  above case  before the

    Environmental Protection Agency,  Office of  Pesticide Programs

14   and that this is a true and  correct  transcript of the same.

15

16

17

18                                 Date:  3/31/80

19

20

21
25
22                                    Official /Reporter
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93                                    1411 K  Street,  N.W.
                                      Washington,  D.C.    20005
24
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