US Environmental Protection Agency Office of Pesticide Programs Reregistration Eligibility Decision (RED) for Grotan (HHT) June 27, 2008 ------- v>EPA United States Office of Prevention, Pesticides EPA 739-R-08-003 Environmental Protection And Toxic Substances June 2008 Agency (751 OP) Re registration Eligibility Decision for HHT ListC Case No. 3074 ------- Reregistration Eligibility Decision (RED) Document for HHT Approved by: FranR Sanders Director Antimicrobials Division Date: ------- TABLE OF CONTENTS ABSTRACT 7 I. Introduction 8 II. Chemical Overview 8 A. Case Overview 8 B. Use and Usage 10 III. Summary of HHT Risk Assessments 10 A. Human Health Risk Assessment 11 1. Background on Assessing Human Health Risks to Formaldehyde 11 2. Toxicity Profile 15 3. Dietary Exposure and Risk from Food and Drinking Water 19 4. Residential Exposure and Risk 20 5. Aggregate Exposure and Risk 22 6. Occupational Exposure and Risk 23 7. Incident Reports 25 B. Environmental Fate and Ecological Hazard Assessment 26 1. Environmental Fate 26 2. Ecological Hazard 27 3. Risk to Listed Species 28 IV. Reregistration and Risk Management Decisions 29 A. Determination of Reregistration Eligibility 29 1. Reregistration Eligibility Decision 29 2. Regulatory Rationale 31 B. Risk Management Decision 32 1. Risk Mitigation Measures 32 2. Product Label Amendments 33 V. What Registrants Need to Do 33 A. Manufacturing Use Products 33 1. Generic Data Requirements 33 B. End-Use Products 35 1. Product Specific Data Requirements 35 2. Labeling for End-Use Products 36 Page 3 of 38 ------- HHT Reregistration Team Office of Pesticide Programs: Environmental Fate and Effects Risk Assessment William Erickson James Breithaupt Health Effects Risk Assessment William J. Hazel Cassi Walls Jenny Tao Jonathan Chen A. Najm Shamim Tim Dole Timothy Leighton Nader Elkassabany Risk Management Lance Wormell Diane Isbell Page 4 of 38 ------- Glossary of Terms and Abbreviations AGDCI ai aPAD AR BCF CFR cPAD CSF CSFII DCI DEEM DFR EC EDWC EEC EPA EXAMS EUP FCID FDA FIFRA FFDCA FQPA FOB G GENEEC GLN HAFT IR LD 50 LOC LOD LOAEL mg/kg/day mg/L Agricultural Data Call-In Active Ingredient Acute Population Adjusted Dose Anticipated Residue Bioconcentration Factor Code of Federal Regulations Chronic Population Adjusted Dose Confidential Statement of Formula USDA Continuing Surveys for Food Intake by Individuals Data Call-In Dietary Exposure Evaluation Model Dislodgeable Foliar Residue Emulsifiable Concentrate Formulation Estimated Drinking Water Concentration Estimated Environmental Concentration Environmental Protection Agency Exposure Analysis Modeling System End-Use Product Food Commodity Intake Database Food and Drug Administration Federal Insecticide, Fungicide, and Rodenticide Act Federal Food, Drug, and Cosmetic Act Food Quality Protection Act Functional Observation Battery Granular Formulation Tier I Surface Water Computer Model Guideline Number Highest Average Field Trial Index Reservoir Median Lethal Concentration. A statistically derived concentration of a substance that can be expected to cause death in 50% of test animals. It is usually expressed as the weight of substance per weight or volume of water, air or feed, e.g., mg/1, mg/kg or ppm. Median Lethal Dose. A statistically derived single dose that can be expected to cause death in 50% of the test animals when administered by the route indicated (oral, dermal, inhalation). It is expressed as a weight of substance per unit weight of animal, e.g., mg/kg. Level of Concern Limit of Detection Lowest Observed Adverse Effect Level Micrograms Per Gram Micrograms Per Liter Milligram Per Kilogram Per Day Milligrams Per Liter Page 5 of 38 ------- MOE MRID MUP NA NAWQA NPDES NR NOAEL OP OPP OPPTS PAD PCA PDF PHED PHI ppb PPE ppm PRZM/EXAMS Qi* RAC RED REI RfD RQ SCI-GROW SAP SF SLC SLN TGAI TRR USDA USGS UF UV WPS Margin of Exposure Master Record Identification (number). EPA's system of recording and tracking studies submitted. Manufacturing-Use Product Not Applicable USGS National Water Quality Assessment National Pollutant Discharge Elimination System Not Required No Observed Adverse Effect Level Organophosphate EPA Office of Pesticide Programs EPA Office of Prevention, Pesticides and Toxic Substances Population Adjusted Dose Percent Crop Area USDA Pesticide Data Program Pesticide Handler's Exposure Data Preharvest Interval Parts Per Billion Personal Protective Equipment Parts Per Million Tier II Surface Water Computer Model The Carcinogenic Potential of a Compound, Quantified by EPA's Cancer Risk Model Raw Agriculture Commodity Reregi strati on Eligibility Decision Restricted Entry Interval Reference Dose Risk Quotient Tier I Ground Water Computer Model Science Advisory Panel Safety Factor Single Layer Clothing Special Local Need (Registrations Under Section 24(c) of FIFRA) Technical Grade Active Ingredient Total Radioactive Residue United States Department of Agriculture United States Geological Survey Uncertainty Factor Ultraviolet Worker Protection Standard Page 6 of 38 ------- ABSTRACT The Environmental Protection Agency (EPA or the Agency) has completed the human health and environmental risk assessments for hexahydro-l,3,5-tris(2-hydroxyethyl)- s-triazine (HHT) and is issuing its reregi strati on eligibility and risk management decisions. The risk assessments, which are summarized in this document, are based on review of registrant-submitted data supporting the use patterns of currently registered products, citations from the open literature, and additional information received through the public docket. The risk assessments have been revised, as needed, according to information received since they were first made available to the public in April 2008. After considering the risk assessments, available information about alternatives to HHT for specific uses, public comments, and risk mitigation options, the Agency developed its reregi strati on eligibility and risk management decisions for uses of HHT. As a result of this review, EPA has determined that some uses of HHT are eligible for reregistration, provided that the prescribed risk mitigation measures are adopted and labels are amended accordingly, and required data are submitted. Other uses are not eligible for reregistration, based on a combination of critical data gaps and unacceptable risks. The reregistration eligibility decision and the associated risk mitigation measures are discussed fully in this document. Page 7 of 38 ------- I. Introduction This document is the Environmental Protection Agency's (EPA or "the Agency") reregi strati on eligibility determination (RED) for all currently registered uses of hexahydro- l,3,5-tris(2-hydroxyethyl)-s-triazine (HHT). This document also summarizes the human health and environmental risks used to make the reregi strati on eligibility decision. The Federal Insecticide, Fungicide, and Rodenticide Act (FIFRA) was amended in 1988 to accelerate the reregi strati on of products with active ingredients registered prior to November 1, 1984, and amended again by the Food Quality Protection Act of 1996 (FQPA) and the Pesticide Registration Improvement Act of 2003 (PRIA) to set time frames for the issuance of Reregi strati on Eligibility Decisions. FIFRA calls for the development and submission of data to support the reregi strati on of an active ingredient, as well as a review of all data submitted to the U.S. Environmental Protection Agency (EPA or "the Agency"). Reregi strati on involves a thorough review of the scientific database underlying a pesticide's registration. The purpose of the Agency's review is to reassess the potential hazards arising from the currently registered uses of a pesticide, to determine the need for additional data on health and environmental effects, and to determine whether or not the pesticide meets the "no unreasonable adverse effects" criteria of FIFRA. The Agency made its reregi strati on eligibility determination for HHT based on the required data, the current guidelines for conducting acceptable studies to generate such data, and published scientific literature. The Agency has found that currently registered uses of HHT, with the exception of paints, stains, coatings, and industrial and household cleaning products, are eligible for reregi strati on provided the requirements for reregi strati on identified in this reregi strati on eligibility decision (RED) are implemented. This document consists of six sections: Section I contains the regulatory framework for reregi strati on reassessment; Section II provides an overview of the chemical, including a profile of its use and usage; Section III gives an overview of the human health and ecological risk assessments; Section IV presents the Agency's reregi strati on eligibility and risk management decisions; Section V summarizes label changes necessary to implement the risk mitigation measures outlined in Section IV; and Section VI includes the appendices, related supporting documents, and Data Call-In (DCI) information. The revised risk assessment documents and related addenda are not included in this document, but are available in the Public Docket at http://www.regulations.gov in docket number EPA-HQ-OPP-2008-0193. II. Chemical Overview A. Case Overview Case 3074, HHT, includes products containing Hexahydro-l,3,5-tris(2-hydroxyethyl)-s- triazine, an antimicrobial chemical that displays some fungicidal activity. HHT products are formulated as liquid concentrates and are registered for in-can preservation of adhesives and Page 8 of 38 ------- to preserve a variety of metal working cutting fluids, indoor construction compounds (e.g., caulk), lubricants, slurries, paints, stains, coatings, solutions, and emulsions. The actual antimicrobial agent in HHT is formaldehyde (HCHO); therefore, this RED also addresses potential risks associated with formaldehyde exposure from HHT uses only. EPA is preparing a separate formaldehyde RED to address potential risks associated with non-HHT uses of formaldehyde. This document will be available in the formaldehyde public docket at http://www.regulations.gov in docket number EPA-HQ-OPP-2008-0121. The chemicals assessed in Case 3074 are presented in Table 1. Table 1. Chemicals Assessed in the HHT RED1 Case Number 3074 0556 CAS Number 4719-04-4 50-00-0 PC Code 083301 043001 Empirical Formula C9H21N3O3 CH2O (Gas or anhydrous form) H2C(OH)2 or dH402 (Formaldehyde monohydrate) Chemical Name Hexahydro- 1,3,5 - tris(2- hydroxyethyl)-s- triazine Formaldehyde (gas) Formaldehyde monohydrate (aqueous solution) Names Used in RED Documents HHT Formaldehyde, HCHO, HCOH Common Names Grotan, Triadine, Proxel, Onyxide, Myacide, Nipacide, and Surcide-P Formaldehyde, Formalin 1 This RED addresses potential risks associated with formaldehyde exposure from HHT uses only. EPA is preparing a separate formaldehyde RED to address potential risks associated with non-HHT uses of formaldehyde. No direct food use is associated with HHT; therefore, no tolerance or tolerance exemption has been established. Prior to the reregi strati on program, EPA began reviewing chemicals under the registration standard program. Chemicals for which Registration Standard documents were written were referred to as "List A" chemicals in reregi strati on. HHT is a "List C" reregi strati on chemical; therefore, no Registration Standard was completed. Data Call-Ins (DCI) requiring chemical identity, toxicology, field trial, ecological, and other data were issued for HHT in December 1992 (GDCI-083301-17025) and September 1993 (GDCI- 083301-17370). Data from submitted studies along with published scientific literature were used to characterize the risks associated with the uses described in this document. Additional data required as a result of reregi strati on are presented in Section V of this document. Page 9 of 38 ------- B. Use and Usage Since the early 1980s, HHT products have been used to control microbial agents and fungi. A detailed table of the uses of HHT eligible for reregi strati on can be found in Appendix A. Type of Pesticide: Use Sites: Target Pests: Formulations: Fungicide, Bacteriostat Metal working cutting fluids; in-can preservation of adhesives; chain lubricants; aqueous mineral slurries; paints; stains; coatings; surfactant/detergent solutions and emulsions; chemical and clinical reagents; inks and dyes; fuel and oil in storage; indoor construction compounds such as caulks, spackling, grout, adhesives, foams; and in industrial processes such as oil field drilling muds, workover fluids, and completion fluids. Microbial agents, bacteria HHT products are formulated as liquid concentrates. Application Methods: Products containing HHT can be applied in residential settings by brush/roller and airless sprayer (paints); mop, wipe, trigger pump/aerosol (cleaners); and in laundry detergents. Commercial/occupational applications include liquid pour/pump, brush/roller and airless sprayer (paints); and mop, wipe, trigger pump/aerosol (cleaners). III. Summary of HHT Risk Assessments The purpose of this section is to summarize EPA's human health and ecological risk conclusions for HHT to help the reader better understand EPA's risk management decisions. The human health and ecological risk assessment documents and supporting information listed in Appendix C were used to formulate the safety finding and regulatory decision for HHT. The full risk assessments and related supporting documents are available at http://www.regulations.gov in docket number EPA-HQ-OPP-2008-0193. EPA developed this RED for HHT through a modified, 4-Phase public participation process. The Agency uses public participation processes to involve the public in developing pesticide reregi strati on decisions. EPA released its preliminary risk assessments for 60-day public comment in March 2008. Substantive comments were incorporated into the final risk assessments which were used to make this reregi strati on eligibility decision. HHT is a formaldehyde releaser, meaning that the actual antimicrobial agent in HHT is formaldehyde. As mentioned previously, this RED also addresses potential risks associated with formaldehyde exposure from HHT uses only. EPA is preparing a separate Page 10 of 38 ------- formaldehyde RED to address potential risks associated with non-HHT uses of formaldehyde. The Agency's use of human studies in the HHT risk assessment is in accordance with the Agency's Final Rule promulgated on January 26, 2006, related to Protections for Subjects in Human Research, which is codified in 40 CFR Part 26. A. Human Health Risk Assessment EPA has conducted a human health risk assessment for HHT to support the reregi strati on eligibility decision. EPA evaluated the submitted toxicology, product and residue chemistry, and occupational/residential exposure studies as well as available open literature and determined that the data are adequate to support a reregi strati on eligibility decision. However, additional data for HHT are needed (see Section V). A summary of the human health risk assessment findings and conclusions is provided below. 1. Background on Assessing Human Health Risks to Formaldehyde a. Formaldehyde Non-Cancer Assessment On June 12, 2008, members of the Antimicrobials Division's Toxicity endpoint Selection Committee (ADTC) met to discuss the non-cancer inhalation toxicity endpoint for formaldehyde that had been previously selected by the committee for use in conducting inhalation toxicity risk assessments for the formaldehyde reregi strati on eligibility decision (RED) document. The original endpoint of 100 ppb was selected from the published report of Horvath et al. [JAMA 259, no. 5: 701-707, 1988], who reported nasal and respiratory effects in 109 workers occupationally exposed to formaldehyde. The value of 100 ppb was selected as a NOAEL for use in occupational risk assessments, while for the general population, a value of 10 ppb was selected. This value was derived by application of a 10-fold uncertainty factor to the NOAEL value of 100 ppb to account for intraspecies variation in response in accordance with Agency policy. During the public comment phase of the formaldehyde risk assessment, the Formaldehyde Council responded to the selection of the 100 ppb endpoint. They stated that the Agency should consider the results of a 2007 publication by Noisel et al. [Regulatory Toxicology and Pharmacology 48: 118-127), which reviewed some of the available scientific literature. This study, in the Council's opinion, "is based on human exposure rather than controlled human chamber studies and can be used for deriving a No-Observed-Adverse- Effect-Level (NOAEL) for the non-cancer endpoint for formaldehyde." The ADTC noted both observational human exposure data as well as data compiled from exposure of human subjects under controlled conditions in the Noisel et al. publication. Notwithstanding the need for intentional exposure data to be presented to the Agency's Human Studies Review Board, the ADTC noted that irritant effects of formaldehyde have Page 11 of 38 ------- been reported in other studies below the 0.75 ppm concentration recommended by Noisel et al. as a safe level. Further, this recommendation is for worker populations only. The irritant effects of formaldehyde, including both eye and nasal irritation as well as respiratory symptoms (irritation, changes in pulmonary function), can be considered from a toxicological perspective to be composed of both physiological and adverse responses. Based on the available data, the ADTC was not compelled to select a value higher than that already proposed. With respect to the 10-fold uncertainty factor used for risk assessment to the general population, the ADTC concluded that a reduction in this factor is not warranted at this time. Contrary to the Formaldehyde Council's statement that "the nature of the health effect does not suggest that there are particularly susceptible subpopulations which would warrant application of the lOx intraspecies UF," the 1999 ATSDR Toxicological Review of formaldehyde (ATSDR, 1999) noted two studies "...providing suggestive evidence that children may be more sensitive to the irritant effects of formaldehyde." These studies were not intentional exposure studies. It is also noted in the ATSDR review that "additional research is necessary to confirm or discard the hypothesis that children may be more susceptible than adults to the irritant effects of formaldehyde..." The ADTC concluded that, based on the available data, it is appropriate to remain with the NOAEL value selected from the 1988 Horvath et al. publication and with the 10- fold uncertainty factor for risk assessments to the general population. The ADTC is also aware, however, of ongoing efforts by ORD/NCEA to develop an inhalation reference concentration, or RfC for formaldehyde. OPP will continue to coordinate its efforts with ORD and other program offices to refine the non-cancer inhalation assessment as necessary. b. Formaldehyde Cancer Assessment The Agency is currently reevaluating the carcinogenic potential of formaldehyde. The historical and ongoing development of an inhalation unit risk value to assess the carcinogenic potential of formaldehyde is briefly summarized below. Contributors to this summary included scientists from several EPA program offices (Office of Pesticide Programs [OPP], Office of Pollution, Prevention, and Toxics [OPPT], Office of Research and Development/National Center for Environmental Assessment [ORD/NCEA], Office of Research and Development/National Health Effects Exposure Research Laboratory [ORD/NHEERL], and Office of Air and Radiation [OAR] ). • In 1991 IRIS published a weight-of-evidence characterization for carcinogenicity of formaldehyde, classifying formaldehyde as a Bl probable human carcinogen with a potency factor of 1.3 E-5 per (ug/m3) ) on the basis of squamous cell nasal tumors observed in a two-year study in rats (Kerns et al., 1983). • In 1999 the Chemical Industry Institute of Toxicology (CUT) developed a health risk assessment for formaldehyde based upon the animal toxicology data (CUT, 1999). This document presented the dose-response modeling of these data in two distinct parts: 1) based upon a biologically-based dose response (BBDR) model, and 2) benchmark dose models that were based upon point of departures at various response Page 12 of 38 ------- levels of the tumor and precursor data. Both these approaches made extensive use of the available time-to-tumor and mechanistic information. The 1999 assessment was subsequently published in various articles in peer-reviewed journals (2001, 2002, 2003, 2004). • In 1999, the U.S. EPA's Office of Air and Radiation and Office of Research and Development, in conjunction with Health Canada, conducted an external peer review workshop for the CUT BDDR model as well as an external written peer review and public comment period for their assessments. While the review was largely positive on the overall approach in the assessment, reviewers also pointed to the potential for significant uncertainty due to model mis-specification and uncertainties in key parameters involved in the BBDR model. • Based on the peer review of the CUT model, OAR determined in 2004 that the CUT model was the most appropriate tool for risk assessment for formaldehyde. OAR has subsequently used the formaldehyde cancer potency derived using the CUT model for a number of risk assessments involving formaldehyde emissions to the atmosphere such as the Plywood and Composite Wood Products National Emission Standard for Hazardous Air Pollutants (final rule 2004, reconsidered final rule 2006, remanded to EPA by court 2007); Control of Hazardous Air Pollutants from Mobile Sources (Final Rule 2007); and Proposed Rule for National Emission Standard for Combustion Turbines (2004). Health Canada, Australia, the World Health Organization, and the German Maximale Arbeitsplatzkonzentrationen (MAK) Commission have also used the CUT model. Model strengths include consideration of the mode of action data for formaldehyde and a conservative approach to account for potential direct DNA interaction and mutation induction. Model uncertainties include variability for some of the parameters of the model (e.g., cell proliferation) which can affect predictions of risk (Subramanian et. al., 2007; 2008 [in press]). • In 2004, NCEA convened a panel of experts, including scientists from CUT, to provide advice on these and other critical biological and statistical uncertainties. The strength of the CUT model is its consideration of mode of action and extensive mechanistic information. • Although current OAR assessments still use the CUT model, these assessments now acknowledge previously unknown uncertainties with the CUT model when characterizing the risk results. • In 2004, the International Agency for Research on Cancer (IARC) characterized formaldehyde as a human carcinogen based on their review of the current literature (IARC, 2004), including data in humans on nasopharyngeal cancer, cancer of the nasal cavity and paranasal sinuses, and leukemia. It should be noted that some epidemiology studies did not find a reported association between formaldehyde exposure and carcinogenicity. For example, Coggon et. al., 2003 studied over 14,000 workers exposed to formaldehyde in industrial workplaces and reported no excesses of either leukemia or nasal and nasopharyngeal cancer. Page 13 of 38 ------- • In 2005, the Scientific Review Panel (SRP) of the California Office of Environmental Health Hazard Assessment responded to the CA Air Resources Board request to reevaluate the carcinogenic potential of formaldehyde. The Panel noted in this 2005 review that California's Office of Environmental Health (OEHH A) 's November 2002 evaluation of a petition had included the 1999 report on the CUT model and other information, and that OEHHA had concluded that "the evidence... (1) did not change the determination that formaldehyde is a carcinogen; (2) presented information that considered the possibility of non-linear dose response relationships, but presented no clear grounds to review the original "no threshold" determination; and (3) did not provide any new epidemiology or bioassays supporting a change in potency. In addition, there was insufficient information to fully evaluate the CUT model, issues such as model uncertainty were not adequately addressed...." The Scientific Review Panel's overall conclusion in 2005 was, "The Panel concluded that there was not sufficient new data to support the petition to review the [OEHHA 's earlier 1992] formaldehyde risk assessment. In addition, the newly published studies represented relevant new information, but they did not allow determination of a causal relationship between formaldehyde exposure and leukemia. These studies deserve further evaluation over time given their potential importance. " (Froines, 2005). • EPA is currently completing a new IRIS assessment and unit risk value for formaldehyde; the reassessment is scheduled to start internal peer review in May 2008 and begin independent external peer review in January 2009 (http://cfpub.epa.gov/ncea/iri strac/index.cfm?fuseaction=viewChemical.showChemic al&sw_id=1031). EPA anticipates that the peer review of the formaldehyde assessment will be a longer process then that of EPA's reregi strati on process scheduled to conclude in September 2008. Based of the on going development of the science to predict carcinogenic potential of formaldehyde, OPP has decided to present the formaldehyde cancer risks for the pesticidal uses using both the existing 1991 IRIS cancer unit risk of 1.3 E-5 per (|ig/m3) and the CUT BBDR model until any new cancer estimates are fully peer reviewed. OPP also acknowledges the wide range in cancer risks using these approaches and will coordinate with other offices in EPA on the outcome of the upcoming peer review process on the carcinogenicity of formaldehyde. Because formaldehyde air concentrations approach those associated with ocular and respiratory tract irritation, the risk mitigation measures to be implemented in the meantime for the pesticidal uses will be based on mitigating the non- cancer effects at a limit of 0.01 ppm. It is believed that this level will reduce exposures sufficiently such that the cancer risks would not be of concern. The EPA process of regulating pesticides allows for reevaluation at any time if new information from the peer review process of the carcinogenic potential of formaldehyde warrants. Page 14 of 38 ------- 2. Toxicity Profile The toxicological databases for HHT and formaldehyde are adequate to support a reregi strati on eligibility decision. As discussed above, HHT and formaldehyde are considered lexicologically unique and were evaluated separately. a. Acute Toxicity Profile HHT has moderate to low acute toxicity via the oral, dermal, and inhalation routes (Category III and IV). It is an eye irritant (Category I), a moderate dermal irritant (Category III), and not a skin sensitizer. Table 2 presents the acute toxicity profile for HHT. The acute toxicity profile for formaldehyde is presented in the June 2008 Formaldehyde RED available at http://www.regulations.gov in docket number EPA-HQ-OPP-2008-0121. Table 2. Acute Toxicity Profile for HHT Guideline Number 870.1100 (§81-1) 870.1100 (§81-1) 870.1200 (§81-2) 870.1300 (§81-3) 870.2400 (§81-4) 870.2500 (§81-5) 870.2500 (§81-5) 870.2600 (§81-6) Study Type/Test substance (% a.i.) Acute Oral - Rat Purity 79.4% Acute Oral - Mouse (Supplemental) Purity 78.5% Acute Dermal - Rabbit Purity 79.96% Acute Inhalation - Rat Primary Eye Irritation - Rabbit Purity 79.96% Primary Dermal Irritation - Rabbit Purity 79.96% Primary Dermal Irritation - Guinea pigs Purity 79.96% Dermal Sensitization - Guinea pigs MRID Number 41675206 00155959 00155984 N/A 00155985 00155986 00155987 00155987 Results LD50=1250mg/kg (males) LD50 =763 mg/kg (females) LD50= 1.30mL/kg LD50 > 2000 mg/kg N/A Corrosive Mild irritant Mild irritant Not a Sensitizer Toxicity Category III III III N/A I IV IV N/A Page 15 of 38 ------- Guideline Number Study Type/Test substance (% a.i.) Purity 79.96% MRID Number Results Toxicity Category b. Toxic Effects and Carcinogenicity The target organ following oral and inhalation exposure to HHT is believed to be the gastrointestinal tract. The target organs following inhalation exposure to formaldehyde is believed to be the eye, nose, and throat. HHT is not classified as a carcinogen (no data available); therefore, quantification of cancer risk is not required for HHT and a cancer analysis was not performed. Formaldehyde is classified as a Bl substance (probable human carcinogen - based on limited evidence of carcinogenicity in humans); therefore, quantification of cancer risk is needed and a cancer analysis was performed for formaldehyde. c. Toxicological Endpoints i. HHT Toxicological Endpoints The toxicological endpoints used in the human health risk assessment for HHT are presented in Table 3. The uncertainty and safety factors used to account for interspecies extrapolation, intraspecies variability, and for completeness of the database are also presented. Table 3. Summary of HHT Toxicological Endpoints Exposure Scenario Dose Used in Risk Assessment, UF Special FQPA SF and Level of Concern (LOC) for Risk Assessment Study and Toxicological Effects Dietary Risk Assessment Acute Dietary (All populations) Oral NOAEL = 500 mg/kg/day UF= 1,000 (lOx-Inter; lOx - Intra; and lOx - database UF) N/A Rat Developmental Toxicity (MRID 41161801), based on ulcerations and scarring of the stomach mucosa Chronic Dietary (All populations) Oral NOAEL = 50 mg/kg/day UF = 100 (lOx-Intra; lOx - Inter) N/A Rat 90-day Oral Study (MRID 41483001), based on lymphocytic infiltration in females and erosion of gastric mucosa and prominence of the limiting ridge of the stomach in males Page 16 of 38 ------- Exposure Scenario Dose Used in Risk Assessment, UF Special FQPA SF and Level of Concern (LOC) for Risk Assessment Study and lexicological Effects Non-Dietary Risk Assessments Short-Term Incidental Oral (1-30 days) Oral NOAEL = 500 mg/kg/day UF= 1,000 (lOx-Inter; lOx - Intra; and lOx - database UF) N/A Rat Developmental Toxicity (MRID 41161801), based on ulcerations and scarring of the stomach mucosa Intermediate-Term Incidental Oral (30 days- 6 months) Oral NOAEL = 50 mg/kg/day UF = 100 (lOx-Intra; lOx - Inter) N/A Rat 90-day Oral Study (MRID 41483001), based on lymphocytic infiltration in females and erosion of gastric mucosa and prominence of the limiting ridge of the stomach in males Dermal Absorption Factor Not required as a dermal toxicity study has been used for the dermal endpoint. Dermal Short-Term (1-30 days) No risk assessment necessary. No adverse systemic effects observed in a 21-day dermal toxicity study up to 1,000 mg/kg/day. Dermal Intermediate- and long-term (30 days- 6 months and >6 months) Oral NOAEL = 250 mg/kg/day UF= 1,000 (lOx-Intra; lOx - Inter; and lOx - database UF) N/A Rat 90-day dermal Study (MRID 41483002), based on systemic NOAEL was found to be greater than 250 mg/kg/day (the HOT) Inhalation (all durations) Oral NOAEL = 50 mg/kg/day UF = 100 (lOx-Inter; lOx - Intra); extra lOx - database UF to require inhalation toxicity study) N/A Rat 90-day Oral Study (MRID 41483001), based on lymphocytic infiltration in females and erosion of gastric mucosa and prominence of the limiting ridge of the stomach in males Cancer (oral, dermal, inhalation) No cancer data are available. ii. Formaldehyde Toxicological Endpoints Although HHT is known to release formaldehyde, the exact rate of release and transformation cannot be meaningfully estimated based on currently available data. For example, because actual air monitoring data for laundry detergents and cleaners were not available, EPA made the conservative assumption that 100% formaldehyde formation Page 17 of 38 ------- occurred from HHT. Confirmatory data are needed to refine estimates based on the actual amount of formaldehyde formation to better estimate exposure and risk. The toxicological endpoints used in the human health risk assessment for formaldehyde are presented in Table 4. The uncertainty and safety factors used to account for interspecies extrapolation, intraspecies variability, and for completeness of the database are also presented. Formaldehyde is classified as a Bl substance (probable human carcinogen - based on limited evidence of carcinogenicity in humans); therefore, quantification of cancer risk is required and a cancer analysis was performed. EPA estimates lifetime cancer risk using the estimated exposure and the carcinogenic potential of the compound (Qi* or "cancer slope factor"). The risk is expressed as a probability of developing cancer (e.g., one-in-a-million or 1 x 10"6). Table 4. Summary of Formaldehyde Toxicological Endpoints Exposure Scenario Dose Used in Risk Assessment (mg/kg/day) Target MOE, UF, Special FQPA SF* for Risk Assessment Study and Toxicological Effects Dietary Risk Assessments Acute Dietary (general population including infants and children) An acute dietary assessment is not needed for the registered antimicrobial uses of formaldehyde; however, an indirect food use assessment was conducted. Chronic Dietary (all populations) A chronic dietary assessment is not needed for the registered antimicrobial uses of formaldehyde; however, an indirect food use assessment was conducted. Non-Dietary Risk Assessments Incidental Oral An incidental oral risk assessment is not required for the registered antimicrobial uses of formaldehyde. Dermal (all durations) A dermal risk assessment is not required for the registered antimicrobial uses of formaldehyde. Inhalation (all durations) NOAEL (human) = 0.1 ppm UF = 1 (occupational) UF = 10 (residential) ACGIH 2001 publication on formaldehyde Horvath, E.P. etal. (1986): JAMA 259(5): 701-707. Based on complaints of eye, nose, and throat irritation in particle board workers at concentrations of formaldehyde from 0.4 - 1.0 ppm. Redden, J. (2005): Section 18 Emergency Exemption for the use of Paraformaldehyde: U.S. Army Medical Research Institute of Infectious Diseases. Page 18 of 38 ------- Exposure Scenario Dose Used in Risk Assessment (mg/kg/day) Target MOE, UF, Special FQPA SF* for Risk Assessment Study and lexicological Effects Cancer Lifetime extra cancer unit risk estimate of 1.3 x 10~5 per (ig/m3 (US EPA IRIS http://www.epa.gov/ncea/iris/subst/0419.htm) And CUT modeling: Tables 8A (for residential) andB (for professional). Hockey stick-shaped CRCP (nonsmoking) (Conolly, 2004) 3. Dietary Exposure and Risk from Food and Drinking Water No direct food use is associated with HHT. However, because HHT products may be used in ways that could result in indirect food contact (e.g., use of cleaners on countertops or cutting boards), EPA estimated acute and chronic non-cancer dietary risk from exposure to HHT. The Agency did not identify a dietary endpoint for formaldehyde and therefore did not estimate dietary risk from exposure to formaldehyde. HHT is largely used indoors as a materials preservative; therefore, effluents containing this chemical are not expected to contact fresh water environments. In addition HHT biodegrades with a short half-life in activated sludge (one week) and water that contains salts. Formaldehyde is the only metabolite identified for HHT. Formaldehyde has been determined not to be stable in soils or water. Therefore, based on the use patterns, and the short half-life, the potential for HHT to impact drinking water sources is negligible and, therefore, a quantitative drinking water assessment was not conducted. For additional information please see the Drinking Water Risk Assessment for HHT (Grotan), dated January 30, 2008. Non-cancer dietary risk is expressed as a percentage of a level of concern. The level of concern is the dose at or below which no unreasonable adverse health effects to any human population subgroup are expected to occur. This dietary level of concern is termed the population adjusted dose (PAD), which reflects the reference dose (RfD), either acute or chronic, adjusted for (divided by) the FQPA safety factor. Estimated risks that are less than 100% of the PAD are below EPA's level of concern. The acute PAD (aPAD) is the highest predicted dose to which a person could be exposed on a single day with no expected adverse health effect. The chronic PAD (cPAD) is the highest predicted dose to which a person could be exposed over the course of a lifetime with no expected adverse health effect. Using conservative assumptions, EPA estimated dietary exposure to HHT to be <1% of the aPAD and cPAD for adhesives and approximately 80% of the aPAD and cPAD for countertop and cutting boards. Therefore, because the aPAD and cPAD are well below 100%, dietary exposure does not exceed the Agency's level of concern. For additional information please see the Dietary Risk Assessment for HHT (Grotan), dated February 12, 2008. Page 19 of 38 ------- 4. Residential Exposure and Risk Because HHT is currently registered for use in residential settings, residential users (handlers) have the potential to be exposed to HHT and formaldehyde by using products containing HHT. Therefore, EPA estimated risk to residential handlers as a result of exposure to HHT and formaldehyde from products containing HHT. Residential non-cancer risk estimates are typically expressed as a margin of exposure (MOE) which is a ratio of the dose from a toxicological study selected for risk assessment, typically a NOAEL, to the predicted exposure (MOE = dose + exposure). Estimated MOEs are then compared to the "target MOE" which represents the dose selected for risk assessment and uncertainty factors (UF) applied to that dose (target MOE = dose * uncertainty factors). The standard UF is lOOx, which includes lOx for interspecies extrapolation (to account for differences between laboratory animals and humans) and lOx for intraspecies variation (to account for differences within the same species). Additional uncertainty or safety factors may also be applied. Residential cancer risk estimates are typically expressed as a probability of developing cancer (e.g., one-in-a-million or 1 x 10"6) which is calculated based on exposure estimates and the carcinogenic potential of the compound (Qi* or "cancer slope factor"). There is the potential for individuals in residential settings to be exposed to HHT and formaldehyde during and following application of products containing HHT. Table 5 presents the representative scenarios used to estimate residential risk from products containing HHT. Table 5. Representative HHT and Formaldehyde Residential Exposure Scenarios Chemical HHT Representative Use Using treated paints Using treated household cleaners Using treated laundry detergents Exposure Scenario Handler: ST inhalation (aerosol) Handler: ST inhalation (aerosol) Post-app child: ST and IT incidental ingestion and IT dermal Post-app child: ST and IT incidental ingestion and IT dermal Application Method • brush/ roller • airless sprayer • mop • wipe • trigger pump/ aerosol NA Page 20 of 3 8 ------- Chemical Representative Use Exposure Scenario Application Method Formaldehyde Using treated paints Handler: ST inhalation (vapor) and cancer NA Using treated household cleaners Handler: ST inhalation (vapor) and cancer NA Using treated laundry detergents Handler: ST inhalation (vapor) and cancer NA The duration of exposure for most homeowner applications of cleaning and paint products is believed to be best represented by the short-term duration (1 to 30 days). Only short-term (ST) exposure durations were estimated for the painter based on the assumption that a homeowner or do-it-yourself painter would typically paint on an intermittent basis (i.e., a few times per year). Furthermore, household cleaning exposure scenarios are assumed to be episodic, not daily. In addition, homeowners are also assumed to use different cleaning products with varying active ingredients, not exclusively HHT treated products. For additional information, please see the Occupational and Residential Exposure and Risk Assessment, dated June 30, 2008. a. HHT Residential Risk Even using conservative assumptions, estimated risk from exposure to HHT in residential settings does not exceed the Agency's level of concern during application (lowest MOE = 12,000; target MOE = 100) or post-application (lowest MOE = 3,500; target MOE = 1,000). For additional information, please see the Occupational and Residential Exposure and Risk Assessment, dated June 30, 2008. b. Formaldehyde Residential Risk Because FIHT is a formaldehyde releaser (i.e., formaldehyde is released from products containing FIHT), EPA estimated residential risk from formaldehyde. Formaldehyde has a high vapor pressure (1mm Hg); therefore, vapor inhalation is the primary route of residential exposure. Several scenarios exceeded the Agency's cancer and non-cancer levels of concern both during application and after application (post-application). Table 6 and Table 7 present the cancer and non-cancer risks of concern identified for residential handlers exposed to formaldehyde as a result of HHT use during application. Specific information related to Page 21 of 38 ------- formaldehyde toxicity and calculation of risk estimates is presented in the Occupational and Residential Exposure and Risk Assessment, dated June 30, 2008. See Section IV of this document for EPA's HHT risk management strategy. Table 6. HHT Residential Handler Cancer Risks of Concern: Inhalation of Formaldehyde Representative Use Paint Household cleaners Laundry detergent Percent Conversion 30% 100% 100% 100% Cancer Risk Estimate IRIS 6.8 xlO'6 2.2 xlO'5 2.5 x 10'5 1.5 xlO'5 CUT Modeling <2.94 x 10'9 <2.94 x 10'9 <2.94 x 10'9 <2.94 x 10'9 Cancer Risk Target l.OxlO'6 Table 7. HHT Residential Handler Non-Cancer Risks of Concern: Inhalation of Formaldehyde Representative Use Paint Household cleaners Laundry detergent Non-Cancer Risk Estimate (MOE) 0.22 0.41 0.22 Non-Cancer Target MOE 10 10 10 The post-application residential scenarios assessed (dermal/incidental oral exposure for children contacting treated floors, exposure to laundered clothing) did not exceed the Agency's level of concern. The Agency did not estimate risks associated with post- application residential exposure to formaldehyde from paint because exposure during application exceeded EPA's level of concern by such a large degree; therefore, although post-application exposure to paint likely exceeds EPA's level of concern, the risks are likely lower than the residential handler scenario the Agency used to make its risk management decisions. See Section IV of this document for EPA's HHT risk management strategy. 5. Aggregate Exposure and Risk The Food Quality Protection Act amendments to the Federal Food, Drug, and Cosmetic Act (FFDCA, Section 408(b)(2)(A)(ii)) require "that there is reasonable certainty that no harm will result from aggregate exposure to pesticide chemical residue, including all anticipated dietary exposures and other exposures for which there are reliable information." Aggregate exposure is the total exposure to a single chemical (or its residues) that may occur from dietary (i.e., food and drinking water), residential, and other non-occupational sources. Table 8 summarizes the scenarios included in the short- and intermediate-term aggregate assessments. The Agency notes that based on the use patterns and probability of co-occurrence, an aggregate assessment was not necessary to conduct for FORMALDEHYDE residues resulting from the use of HHT treated products. Page 22 of 3 8 ------- Table 8. Representative HHT Aggregate Exposure Scenarios Adults Children Short-term Aggregate Inhalation: • Mopping applicator • Wiping applicator • Trigger pump applicator Oral: • Post-app exposure to floor cleaner residues • Post-app exposure to laundry detergent residues Intermediate-Term Aggregate Dermal or Oral or Inhalation: • No applicable exposures Oral: • Post-app exposure to floor cleaner residues • Post-app exposure to laundry detergent residues Dermal: • Post-app exposure to floor cleaner residues • Post-app exposure to laundry detergent residues Aggregate exposure did not exceed EPA's level of concern for adult residential handlers of HHT products (lowest MOE = 23,000; target = 100) or children exposed to residues of HHT products (lowest MOE = 2,100; target = 1,000). 6. Occupational Exposure and Risk Because HHT is currently registered for use in occupational settings, occupational handlers have the potential to be exposed to HHT and formaldehyde through mixing, loading, applying a pesticide or re-entering treated sites. Therefore, EPA estimated risk to occupational handlers as a result of exposure to HHT and formaldehyde from products containing HHT. Occupational non-cancer risks are presented as margins of exposure (MOE) and occupational cancer risks are presented as a probability of developing cancer (e.g., one-in-a-million or 1 x 10"6). There is the potential for individuals in occupational settings to be exposed to HHT and formaldehyde during and following application of products containing HHT. Table 9 presents the representative occupational uses assessed for HHT. Table 9. Representative HHT and Formaldehyde Occupational Exposure Scenarios Chemical HHT Representative Use Paints1 Exposure Scenario Handler: ST inhalation (aerosol); IT dermal and inhalation (aerosol) Painter: ST inhalation (aerosol) Application Method Preservation of paint • Liquid pour • Liquid pump Professional painter • Brush/Roller • Airless sprayer Page 23 of 3 8 ------- Chemical Formaldehyde Representative Use Commercial/ household cleaners Metal working fluids Oil field Using treated paints Using treated metal working fluids Exposure Scenario Handler: ST inhalation (aerosol); IT dermal and inhalation (aerosol) Handler: ST inhalation (aerosol); IT dermal and inhalation (aerosol) Machinist: IT/LT dermal and ST/IT/LT inhalation (aerosol) Handler: ST inhalation (aerosol); IT dermal and inhalation (aerosol) Handler and Bystander1 : ST inhalation (vapor) and cancer Handler: ST inhalation (vapor) and cancer Application Method • mop • wipe • trigger pump/ aerosol Preservation of fluid • Liquid pour • Liquid pump Professional machinist • Liquid pour • Liquid pump NA NA 1 The bystander scenario in a paint manufacturing facility also represents all occupational bystander scenarios in a general industrial facility. To assess handler risk, the Agency used surrogate unit exposure data primarily from the proprietary Chemical Manufacturers Association (CMA) Antimicrobial Exposure Study (USEPA 1999) and the Pesticide Handlers Exposure Database (PHED) (USEPA 1998). For the occupational scenarios in which CMA data were insufficient, other data and methods were applied. For additional information, please see the Occupational and Residential Exposure and Risk Assessment, dated June 30, 2008. a. HHT Occupational Risk Even using conservative assumptions, most estimated risks from exposure to HHT in occupational settings did not exceed the Agency's level of concern during application or post-application. However, Table 10 presents the application occupational risks for HHT that exceeded EPA's level of concern. Page 24 of 3 8 ------- Table 10. HHT Occupational Handler Non-Cancer Risks of Concern: Dermal Exposure to HHT Representative Use Paint Professional cleaners Oil field secondary recovery Non-Cancer Risk Estimate (MOE) Non-Cancer Target MOE N/A1 400 690 1000 1000 1 Although assessed, intermediate-term dermal handler exposure to paint in occupational settings did not exceed EPA's level of concern See Section IV of this document for EPA's HHT risk management strategy. b. Formaldehyde Occupational Risk Even using conservative assumptions, most estimated risks from exposure to formaldehyde in occupational settings did not exceed the Agency's level of concern during application or post-application. However, Table 11 and Table 12 present the cancer and non- cancer occupational handler risks for formaldehyde that exceeded EPA's level of concern. Table 11. HHT Occupational Handler Cancer Risks of Concern: Inhalation of Formaldehyde Representative Use Metal working fluid Paint Percent Conversion N/A1 30% 100% Cancer Risk Estimate IRIS 2.2xlO-4to 3.7 xlO'4 8.7 xlO'4 2.9 xlO'3 CUT Modeling 1.46X10'8 to 1.86xlO-8 3.13xlQ-8 l.llxlO'7 Cancer Risk Target 1.0xlO-4to l.OxlO'6 1 Not applicable; risk estimates for this scenario were based on exposure information from a study in metal working facilities that use HHT-preserved fluids Table 12. HHT Occupational Handler Non-Cancer Risks of Concern: Inhalation of Formaldehyde Representative Use Paint Metal working fluid Non-Cancer Risk Estimate (MOE) 0.22 0.21 Non-Cancer Target MOE 1 1 See Section IV of this document for EPA's HHT risk management strategy. 7. Incident Reports Only limited incident reports are associated with exposure to end-use products containing HHT. Dermal irritation and dermal sensitization are the primary concerns associated with HHT exposure; conjunctivitis and bronchial asthma have also been reported. Page 25 of 3 8 ------- B. Environmental Fate and Ecological Hazard Assessment EPA has conducted an environmental fate assessment and an ecological hazard assessment for HHT to support the reregi strati on eligibility decision. Based on the currently registered use patterns, release and exposure levels are expected to be minimal when products are applied according to label directions and use precautions. EPA evaluated the submitted environmental fate and ecological studies as well as available open literature and determined that the data are adequate to support a reregi strati on eligibility decision. A summary of the ecological hazard and environmental fate findings and conclusions is provided below; the full risk assessments are available at http://www.regulations.gov in docket number EPA-HQ-OPP-2008-0193. 1. Environmental Fate a. Hydrolysis HHT is a symmetric triazine compound with three ethanol side chains attached to the meta nitrogens (see Figure 1). Triazine ethanol was hydrolyzed with an estimated half-life of 3.1 days at pH 5. The hydrolysis half-lives of HHT were 50 and 302 days for pH 7 and 9, respectively. Figure 1. Chemical Structure of HHT The only radiolabeled triazine hydrolytic degradate observed in the study was identified as formaldehyde. At pH 5, formaldehyde formation reached 50 % by 2 days, 85 % by 7 days, and 97-100 % by 14-30 days. At pH 7, formaldehyde reached 19 % by 1 day, 25 % by 14 days, and 31 % by 30 days. At pH 9, formaldehyde reached 17-21 % by 1-30 days. HHT hydrolyzed more quickly at pH 8 than pHs 9.5 and 10.9. At 22 °C, the half- lives were 3.4 hours, 16 minutes, and 32 seconds at pH 10.9, 9.5, and 8.0, respectively. At 60 °C, the half-lives were 3.1 minutes and 6.3 seconds for pH 10.9 and 9.5, respectively. The degradation product was not identified, although it was likely to be formaldehyde from breakdown of the triazine ring. b. Biodegradability Based on Voets et al. (1975), HHT at 70 mg/L was tested in activated sewage sludge at 1/10th of its intended use concentration. Flasks were incubated at 28 °C for 24 hours on a Page 26 of 3 8 ------- rotary shaker. Under both aerobic and anaerobic conditions, 100 % of HHT was degraded by direct metabolism. Formaldehyde was identified as the metabolism product of HHT. 2. Ecological Hazard The potential for HHT to be released into the environment at exposure levels of concern to terrestrial and aquatic organisms is low for the registered indoor use patterns. Therefore, EECs have not been modeled and risk has not been assessed for any current HHT uses. The hazard assessment will be used to meet current labeling needs and to determine hazard endpoints for ecological organisms potentially exposed in the event of a spill or other potential environmental releases. The toxicity endpoints used in the ecological hazard assessment were obtained from guideline toxicity studies conducted for wildlife, aquatic organisms, and plants (40 CFR §158.2060). One available acute oral study on the bobwhite quail indicates that HHT is only slightly toxic to birds (LDso of 1520 mg/kg). Although not required for the current uses of HHT, the three available dietary studies on the northern bobwhite quail and the mallard duck categorize HHT as being practically nontoxic when ingested (LCso of >5000 ppm). An avian precautionary statement is not required on product labels. Refer to the human toxicology chapter for details on the available acute mammalian toxicity studies submitted for human health assessment. Based on acute studies in mice and rats, HHT is slightly to moderately toxic via oral dosing (LDso from 750-1300 mg/kg) and dermally in rabbit (>2000 mg/kg). Honeybee toxicity data are not needed based on the current uses of HHT. One acute toxicity study is required to establish the toxicity of HHT to freshwater fish. The preferred test species is either the rainbow trout (Oncorhynchus mykiss), a coldwater fish, or the bluegill (Lepomis macrochirus), a sunfish. For HHT, acute studies are available for both the rainbow trout and the bluegill and for the channel catfish (Ictalurus punctatus). The acute toxicity values from these studies categorize HHT as being slightly toxic to freshwater fish (96-hr LCso of 36-77 mg/L). A precautionary label statement is not required. One study is required to establish the acute toxicity (ECso) of HHT to freshwater invertebrates. The preferred test species is Daphnia magnet, a water flea. Based solely on mortality (LCso), two studies categorize HHT as being moderately toxic to freshwater invertebrates (48-hr LCso of 5.4-26 mg/L). However, an ECso (based on immobility of exposed daphnids) was not determined in either study. The guideline requirement (OPPTS 850.1010) is satisfied for current uses. However, a study establishing an ECso (based on mortality and immobility) would be needed to support any new uses in which HHT is expected to reach the aquatic environment at exposure levels of concern for aquatic organisms. Page 27 of 3 8 ------- Acute toxicity testing with estuarine and marine organisms is required when an end- use product is intended for direct application to the marine/estuarine environment or the active ingredient is toxic to aquatic organisms and is expected to reach this environment via other transport pathways. Studies are required for HHT to support drilling uses in the estuarine/marine environment. The preferred test species are the sheepshead minnow (Cyprinodon variegatus), mysid shrimp (Mysidopsis bahia), and Eastern oyster (Crassostrea virginica). The available data are presented in Table 13. Test results indicate that HHT is practically nontoxic to moderately toxic to estuarine/marine organisms. Table 13. Acute Toxicity of HHT to Estuarine/Marine Invertebrates Test Species Sheepshead minnow Eastern oyster Mysid shrimp %ai tested 83.8 83.8 83.8 96-h LC50 or EC50 (mg ai/L) >118 2.3 (shell deposition) 12 Toxicity Category practically nontoxic moderately toxic slightly toxic Study Status supplemental core supplemental MRID No. 43143102 43175402 43143103 3. Risk to Listed Species Section 7 of the Endangered Species Act, 16 U.S.C. Section 1536(a)(2), requires all federal agencies to consult with the National Marine Fisheries Service (NMFS) for marine and anadromous listed species, or the United States Fish and Wildlife Services (FWS) for listed wildlife and freshwater organisms, if they are proposing an "action" that may affect listed species or their designated habitat. Each federal agency is required under the Act to insure that any action they authorize, fund, or carry out is not likely to jeopardize the continued existence of a listed species or result in the destruction or adverse modification of designated critical habitat. To jeopardize the continued existence of a listed species means "to engage in an action that reasonably would be expected, directly or indirectly, to reduce appreciably the likelihood of both the survival and recovery of a listed species in the wild by reducing the reproduction, numbers, or distribution of the species" (50 CFR §402.02). To facilitate compliance with the requirements of the Endangered Species Act subsection (a)(2) the Environmental Protection Agency, Office of Pesticide Programs has established procedures to evaluate whether a proposed registration action may directly or indirectly reduce appreciably the likelihood of both the survival and recovery of a listed species in the wild by reducing the reproduction, numbers, or distribution of any listed species (U.S. EPA 2004). After the Agency's screening-level risk assessment is performed, if any of the Agency's Listed Species LOG Criteria are exceeded for either direct or indirect effects, a determination is made to identify if any listed or candidate species may co-occur in the area of the proposed pesticide use. If determined that listed or candidate species may be Page 28 of 3 8 ------- present in the proposed use areas, further biological assessment is undertaken. The extent to which listed species may be at risk then determines the need for the development of a more comprehensive consultation package as required by the Endangered Species Act. For certain use categories, the Agency assumes there will be minimal environmental exposure, and only a minimal toxicity data set is required (Overview of the Ecological Risk Assessment Process in the Office of Pesticide Programs U.S. Environmental Protection Agency - Endangered and Threatened Species Effects Determinations, 1/23/04, Appendix A, Section IIB, pg.81). Chemicals in these categories therefore do not undergo a full screening- level risk assessment, and are considered to fall under a no effect determination. The material preservative uses for HHT fall into this category. IV. Reregistration and Risk Management Decisions A. Determination of Reregistration Eligibility 1. Reregistration Eligibility Decision Section 4(g)(2)(A) of FIFRA calls for EPA to determine, after submission of relevant data concerning an active ingredient, whether or not products containing the active ingredient are eligible for reregi strati on. EPA has previously identified and required the submission of the generic (i.e., active ingredient-specific) data required to support reregi strati on of products containing HHT as an active ingredient. The Agency has reviewed these generic data, and has determined that the data are sufficient to support a reregi strati on eligibility decision for all products containing HHT. The Agency has completed its assessment of the residential, occupational and ecological risks associated with the use of pesticide products containing the active ingredient HHT. The Agency has determined that all HHT containing products are eligible for reregi strati on provided that: 1) all risk mitigation measures are implemented; 2) current data gaps and confirmatory data needs are addressed; and 3) label amendments are made as described in Section V. Appendix A summarizes the uses of HHT that are eligible for reregi strati on. Appendix B identifies the generic data requirements that the Agency reviewed as part of its determination of reregi strati on eligibility of HHT and lists the submitted studies that the Agency found acceptable. Data gaps are identified as generic data requirements that have not been satisfied with acceptable data. EPA considered the available information and has determined that the uses of HHT summarized in Table 14 will not pose unreasonable risks to humans or the environment if the requirements for reregi strati on outlined in this document are implemented; see Appendix A for a detailed list. Unless labeled and used as specified in this document, HHT would present risks inconsistent with FIFRA. Accordingly, should a registrant fail to implement any of the requirements for reregi strati on identified in this document, the Agency may take regulatory action to address the potential risk concerns from the use of HHT. Page 29 of 3 8 ------- Table 14. Summary of HHT Uses Eligible for Reregi strati on Use Site1 Metal working fluids Adhesives Aqueous mineral slurries Construction compounds (caulks, joint cements, spackling, grout, tapes, mortar Aqueous analytical and diagnostic reagents Synthetic fiber lubricants (spin finishes) Fuel systems (diesel oil, fuel oil, gasoline or kerosene systems) Oil field applications (drilling muds, workover/completion fluids, oil recovery injection systems) Mitigation Required Yes2 No No No No No No Yes2 1 Detailed information is presented in Appendix A 2 This use is eligible for reregistration provided the mitigation measures and accompanying label changes identified in Table 15 and Table 17 are implemented. a. Endocrine Disrupter Effects EPA is required under the FFDCA, as amended by FQPA, to develop a screening program to determine whether certain substances (including all pesticide active and other ingredients) "may have an effect in humans that is similar to an effect produced by a naturally occurring estrogen, or other endocrine effects as the Administrator may designate." Following recommendations of its Endocrine Disrupter Screening and Testing Advisory Committee (EDSTAC), EPA determined that there was a scientific basis for including, as part of the program, the androgen and thyroid hormone systems, in addition to the estrogen hormone system. EPA also adopted EDSTAC's recommendation that EPA include evaluations of potential effects in wildlife. For pesticides, EPA will use its authorities under FIFRA and/or the FFDCA to require any necessary data on endocrine-related effects. As the science develops and resources allow, screening for additional hormone systems may be added to the Endocrine Disrupter Screening Program (EDSP). b. Cumulative Risks Risks summarized in this document are those that result only from the use of FIHT. The Food Quality Protection Act (FQPA) requires that, when considering whether to establish, modify, or revoke a tolerance, the Agency consider "available information" concerning the cumulative effects of a particular pesticide's residues and "other substances that have a common mechanism of toxicity." Unlike other pesticides for which EPA has followed a cumulative risk approach based on a common mechanism of toxicity, EPA has not made a common mechanism of toxicity finding as to FIHT. EPA has not assumed that the FIHT share a common mechanism of toxicity with other compounds. c. Public Comments and Response Through EPA's public participation process, EPA worked with stakeholders and the public to reach the regulatory decisions for HHT. During the public comment period on the risk assessments, which closed on June 23, 2008, the Agency received one comment from the Troy Corporation including the submission of an additional inhalation exposure study for Page 30 of 38 ------- paint. The results of this study, along with other information provided, are reflected in the final risk assessments and this document. All comments and EPA's official responses are available at http://www.regulations.gov in docket number EPA-HQ-OPP-2008-0193. 2. Regulatory Rationale The Agency has determined that HHT is eligible for reregi strati on provided that the registrants implement the mitigation measures in this RED through amended labeling. With amended labeling, EPA believes that HHT will not present risks inconsistent with FIFRA and that the benefits of HHT to society - including antimicrobial use in metal working fluids and industrial materials - outweigh the remaining risks. A summary of EPA's rationale for reregistering and managing risks associated with HHT is presented below. a. Performing Residential Activities There is the potential for homeowners to be exposed to HHT and formaldehyde either during or after the application of HHT products. To estimate the potential risks associated with these exposures, the Agency assessed representative application and/or post-application exposure scenarios including treated paints, cleaning products, and laundry detergents. Because the estimated risks associated with treated paints, cleaning products, and laundry detergents exceeded EPA's level of concern by such a large degree - in some cases by more than several orders of magnitude - the Agency believes that these and similar uses do not meet the "no unreasonable adverse effects" criteria of FIFRA. Therefore, HHT products for use in paints, stains, coatings, and institutional and household cleaning products in residential settings are not eligible for reregi strati on. However, the Agency believes that certain other residential uses of HHT (see Appendix A) result in significantly lower exposure and risk and present a benefit to society. Therefore, residential uses other than paints, stains, coatings, and institutional and household cleaning products meet the "no unreasonable adverse effects" criteria of FIFRA and are eligible for reregi strati on. b. Performing Occupational Activities There is the potential for workers to be exposed to HHT and formaldehyde either during or after the application of HHT products in an occupational setting. To estimate the potential risks associated with these exposures, the Agency assessed representative application and/or post-application exposure scenarios including treated paints, metal working fluids, and oil fields. Because the estimated risks associated with treated paints exceeded EPA's level of concern by such a large degree, the Agency believes that this use and similar uses (e.g., stains and coatings) do not meet the "no unreasonable adverse effects" criteria of FIFRA. Therefore, HHT products for use in paints, stains, and coatings in occupational settings are not eligible for reregi strati on. Page 31 of 38 ------- However, the Agency believes that certain other occupational uses of HHT (see Appendix A) result in significantly lower exposure and risk and present a benefit to society. Therefore, occupational uses other than paints, stains, and coatings meet the "no unreasonable adverse effects" criteria of FIFRA and are eligible for reregi strati on provided the mitigation measures and associated label changes presented in Table 15 and Table 17 are implemented. EPA notes that its level of concern for formaldehyde is below the Occupational Safety and Health Administration (OSHA) permissible exposure limit (PEL). EPA's mitigation measures to reduce exposure for non-cancer effects (e.g., irritation) also account for protecting exposures in the lower range of the cancer assessment. B. Risk Management Decision HHT uses presented in Appendix A are eligible for reregistration provided that registrants comply with the requirements outlined in this document including implementing risk mitigation measures, amending product labels, and submitting required confirmatory data. 1. Risk Mitigation Measures Products containing HHT are eligible for reregi strati on provided that the registrants implement the risk mitigation measures presented in Table 15. Specific labeling requirements to implement these measures are presented in Table 17. In the future, registrants may request that EPA remove or reduce certain restrictions or mitigation measures upon submission of acceptable toxicity and exposure studies that demonstrate risk exposure to HHT is below OPP's level of concern. Table 15. Risk Mitigation Measures for HHT Use Site Paints, Stains, and Coatings Metal Working Fluids Institutional and Household Cleaning Products Oil Field Secondary Recovery Risk(s) of Concern Residential handler inhalation exposure to HHT in paint Occupational handler inhalation exposure to formaldehyde in paint Occupational handler inhalation exposure to formaldehyde in metal working fluids Residential handler inhalation exposure to formaldehyde in cleaners Residential handler inhalation exposure to HHT in laundry detergent Occupational handler dermal exposure to HHT in oil field secondary recovery uses Mitigation Measures1 • Delete use • Reduce maximum application rate from 1600 ppb to 500 ppb • Delete use • Reduce maximum application rate from 0.16% active ingredient (ai) to 0.12% ai 1 In the future, registrants may request that EPA remove or reduce certain restrictions or mitigation measures upon submission of acceptable toxicity and exposure studies that demonstrate risk to HHT is below OPP's level of concern. Page 32 of 38 ------- 2. Product Label Amendments Manufacturing-Use Products and End-Use Products must be amended to reflect the mitigation measures presented in Table 15 and the label amendments presented in Table 17 (see Section V). V. What Registrants Need to Do The Agency has determined that HHT is eligible for reregi strati on provided that the requirements for reregi strati on identified in this RED are implemented (see Section IV). The registrant will also need to amend product labeling for each product. The database supporting the reregi strati on of HHT has been reviewed and determined to be adequate to support a reregi strati on eligibility decision. However, additional confirmatory data are required to support continued registration. A. Manufacturing Use Products 1. Generic Data Requirements The generic database supporting the reregi strati on of HHT for currently registered uses has been reviewed and determined to be adequate to support a reregi strati on eligibility decision. However, the confirmatory data presented in Table 16 are required. Generally, registrants will have 90 days from receipt of a generic data call-in (GDCI) to complete and submit response forms or request time extensions and/or waivers with a full written justification. Timeframes for submitting generic data will be presented in the GDCI. Table 16. Generic Data Required to Support HHT Registrations EPA Guideline Number 870.1300 870.3150 870.3465 870.3700 870.3800 870.4100 870.4200 875.1100 875.1200 875.1300 875.1400 875.1600 875.1700 875.2700 875.2800 875.2900 Requirement Name Acute Inhalation Study 90-day Oral Toxicity in (Non- Rodents) 90-Day Inhalation Toxicity in Rats Developmental Toxicity (Non-Rodents) 2-Generation Reproductive Toxicity Study Chronic Toxicity Carcinogenicity (Rat and Mouse) Dermal Outdoor Exposure Dermal Indoor Exposure Inhalation Outdoor Exposure Inhalation Indoor Exposure Applicator Exposure Monitoring Data Reporting Product Use Information Product Use Information Description of Human Activity Data Reporting and Calculations Page 33 of 38 ------- The Agency determined that there are data gaps in the hazard database for HHT based on the current use patterns. Due to the potential inhalation exposure in occupational and residential settings, and based on the lack of inhalation toxicity data, an acute inhalation toxicity study (870.1300) and 90-day inhalation toxicity study (870.3465) must be performed for HHT. In addition, a 90-day oral toxicity in non-rodents (870.3150) is required to assess species sensitivities to the toxicity of HHT. There are no chronic toxicity and carcinogenicity data for HHT. Risks from the metalworking fluid use of HHT cannot be adequately characterized without these data. Because there are potential endocrine disruption concerns, some positive mutagenicity study findings, and because HHT is a known formaldehyde producer, a chronic toxicity study (870.4100) and carcinogenicity studies (870.4200) in two species are needed. In addition, metalworking fluid use is considered a long-term exposure antimicrobial use pattern and triggers the requirement for carcinogenicity studies and chronic toxicity studies as described on the 1987 Antimicrobial Data Call-In Notice. There are no data for the reproductive toxicity of HHT. The data for characterizing the developmental and reproductive toxicity of HHT are limited to only developmental toxicity study in rats. Specifically, a non-rodent species should be tested to assess species sensitivity to the toxicity of HHT. A reproductive toxicity study is also necessary to assess any effects on fertility and reproduction, and is required to support the current uses of HHT. Surrogate dermal and inhalation unit exposure values were taken from the proprietary CMA antimicrobial exposure study (USE EPA 1999: DP Barcode D247642). Most of the CMA data are of poor quality and, therefore, the Agency requests that confirmatory monitoring data be generated to support the values used in the occupational and residential risk assessments and to further refine these assessments. The following confirmatory monitoring data are needed: dermal exposure-indoor & outdoor data (875.1200 and 875.1100, respectively), and inhalation exposure-indoor & outdoor data (875.1400 and 875.1300, respectively). Product use information (875.1700 and 875.2700), description of human activity data (875.2800), and data reporting and calculations (875.2900) are also needed to further define the exposure scenarios being supported and to further refine the assessments. For HHT technical grade active ingredient products, the registrant needs to submit the following items: Within 90 days from receipt of the generic data call-in (DCI): 1. Completed response forms to the generic DCI (i.e., DCI response form and requirements status and registrant's response form); and 2. Submit any time extension and/or waiver requests with a full written justification. Page 34 of 38 ------- Within the time limit specified in the generic DCI: 1. Cite any existing generic data which address data requirements or submit new generic data responding to the DCI. Please contact Lance Wormell at (703) 603-0523 with questions regarding generic reregi strati on. By US mail: By express or courier service: Document Processing Desk Document Processing Desk Lance Wormell Lance Wormell Office of Pesticide Programs (751 OP) Office of Pesticide Programs (751 OP) U.S. Environmental Protection Agency U.S. Environmental Protection Agency 1200 Pennsylvania Ave., NW One Potomac Yard, Room S-4900 Washington, DC 20460-0001 2777 South Crystal Drive Arlington, VA 22202 B. End-Use Products 1. Product Specific Data Requirements Section 4(g)(2)(B) of FIFRA calls for the Agency to obtain any needed product- specific data regarding the pesticide after a determination of eligibility has been made. The registrant must review previous data submissions to ensure that they meet current EPA acceptance criteria and if not, commit to conduct new studies. If a registrant believes that previously submitted data meet current testing standards, then the study MRID numbers should be cited according to the instructions in the Requirement Status and Registrants Response Form provided for each product. The Agency intends to issue a separate product- specific data call-in (PDCI) outlining specific data requirements. Generally, registrants will have 90 days from receipt of a PDCI to complete and submit response forms or request time extensions and/or waivers with a full written justification. Registrants will have eight months to submit product-specific data. For end-use products containing the active ingredient HHT, the registrant needs to submit the following items for each product. Within 90 days from the receipt of the product-specific data call-in (PDCI): 1. Completed response forms to the PDCI (i.e., PDCI response form and requirements status and registrant's response form); and 2. Submit any time extension or waiver requests with a full written justification. Page 35 of 38 ------- Within eight months from the receipt of the PDCI: 1. Two copies of the confidential statement of formula (EPA Form 8570-4); 2. A completed original application for reregi strati on (EPA Form 8570-1). Indicate on the form that it is an "application for reregi strati on"; 3. Five copies of the draft label incorporating all label amendments outlined in Table 17 of this document; 4. A completed form certifying compliance with data compensation requirements (EPA Form 8570-34); 5. If applicable, a completed form certifying compliance with cost share offer requirements (EPA Form 8570-32); and 6. The product-specific data responding to the PDCI. Please contact Marshal Swindell at (703) 308-6341 with questions regarding product reregi strati on and/or the PDCI. All materials submitted in response to the PDCI should be addressed as follows: By US mail: By express or courier service: Document Processing Desk Document Processing Desk Marshal Swindell Marshal Swindell Office of Pesticide Programs (751 OP) Office of Pesticide Programs (751 OP) U.S. Environmental Protection Agency U.S. Environmental Protection Agency 1200 Pennsylvania Ave., NW Room S-4900, One Potomac Yard Washington, DC 20460-0001 2777 South Crystal Drive Arlington, VA 22202 2. Labeling for End-Use Products To be eligible for reregi strati on, labeling changes are necessary to implement measures outlined in Section IV. Specific language to incorporate these changes is presented in Table 17. Generally, conditions for the distribution and sale of products bearing old labels/labeling will be established when the label changes are approved. However, specific existing stocks time frames will be established case-by-case, depending on the number of products involved, the number of label changes, and other factors. Registrants may generally distribute and sell products bearing old labels/labeling for 26 months from the date of the issuance of this Reregi strati on Eligibility Decision document. Persons other than the registrant may generally distribute or sell such products for 52 months from the approval of labels reflecting the mitigation described in this RED. However, existing stocks time frames will be established case-by-case, depending on the number of products involved, the number of label changes, and other factors. Refer to "Existing Stocks of Pesticide Products; Statement of Policy," Federal Register, Volume 56, No. 123, June 26, 1991. Page 36 of 38 ------- Table 17. Required Label Changes for Manufacturing and End-Use Products Containing HHT Description HHT: Required Labeling Language Placement on Label Manufacturing-Use Products For all Manufacturing Use Products "Only for formulation as a preservative for the following use(s) [fill blank only with those uses that are being supported by MP registrant]." "Only for formulation into end-use products with directions for use that prohibit use in paints, stains, coatings, and institutional and household cleaning products." Directions for Use One of these statements may be added to a label to allow reformulation of the product for a specific use or all additional uses supported by a formulator or user group. "This product may be used to formulate products for specific use(s) not listed on the MP label if the formulator, user group, or grower has complied with U.S. EPA submission requirements regarding support of such use(s)." "This product may be used to formulate products for any additional use(s) not listed on the MP label if the formulator, user group, or grower has complied with U.S. EPA submission requirements regarding support of such use(s)." Directions for Use Environmental Hazards Statements Required by the RED and Agency Label Policies "Do not discharge effluent containing this product into lakes, streams, ponds, estuaries, oceans, or other waters unless in accordance with the requirements of a National Pollution Discharge Elimination System (NPDES) permit and the permitting authority has been notified in writing prior to discharge. Do not discharge effluent containing this product to sewer systems without previously notifying the local sewage treatment plant authority. For guidance contact your State Water Board or Regional Office of the EPA." Precautionary Statements End- Use Products PPE Requirements Established by the RED "Personal Protective Equipment (PPE)" All mixers and other handlers must wear the following PPE: - long-sleeved shirt and long pants, - shoes plus socks, - chemical-resistant gloves, and - goggles, face shield, or safety glasses." Immediately following/below Precautionary Statements: Hazards to Humans and Domestic Animals Page 37 of 38 ------- User Safety Requirement "Follow manufacturer's instructions for cleaning/maintaining PPE. jf no such instructions for washables exist, use detergent and hot water. Keep and wash PPE separately from other laundry." "Discard clothing and other absorbent material that have been drenched or heavily contaminated with the product's concentrate. Do not reuse them." Precautionary Statements: Hazards to Humans and Domestic Animals Immediately following the PPE requirements User Safety Recommendations "USER SAFETY RECOMMENDATIONS" "Users should wash hands before eating, drinking, chewing gum, using tobacco, or using the toilet." "Users should remove clothing/PPE immediately if pesticide gets inside. Then wash thoroughly and put on clean clothing." "Users should remove PPE immediately after handling this product. Wash the outside of gloves before removing. As soon as possible, wash thoroughly and change into clean clothing." Precautionary Statements: Hazards to Humans and Domestic Animals immediately following Engineering Controls (Must be placed in a box.) Other Application Restrictions (Risk Mitigation) For products intended for use in metal working fluids, include the following: "For metal working fluids, the maximum use concentration is 500 parts per billion (ppb) of active ingredient." For products intended for use in oil field secondary recovery, include the following: "For oil field secondary recovery use, the maximum use concentration is 0.12% active ingredient." Directions for Use Associated with the Specific Use Pattern Other Application Restrictions (Risk Mitigation) "Use of this product in paints, stains, coatings, and institutional and household cleaning products is prohibited." Directions for Use under Other Use Precautions Page 38 of 38 ------- |