UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
     JSP SB,.                     WASHINGTON B.C. 20460
     ^     <
           0<>                                                         OFFICE OF THE ADMINISTRATOR
                                                                       SCIENCE ADVISORY BOARD
                                     November 19, 2012

EPA-CASAC-13-002

The Honorable Lisa P. Jackson
Administrator
U.S. Environmental Protection Agency
1200 Pennsylvania Avenue, N.W.
Washington, D.C. 20460

Subj ect:      CAS AC Review of the EPA' s Health Risk and Exposure Assessment for Ozone (First
             External Review Draft - Updated August 2012) and Welfare Risk and Exposure
             Assessment for Ozone (First External Review Draft - Updated August 2012)

Dear Administrator Jackson:

The Clean Air Scientific Advisory Committee (CAS AC) Ozone Review Panel discussed the EPA's
Health Risk and Exposure Assessment for Ozone (First External Review Draft - Updated August 2012)
and Welfare Risk and Exposure Assessment for Ozone (First External Review Draft - Updated August
2012), hereafter referred to respectively as the Health REA (HREA) and Welfare REA (WREA), during
a public meeting on September 12-13, 2012, and a public teleconference on November 5, 2012. The
CAS AC's consensus responses to the agency's charge questions on both documents are enclosed. The
CAS AC's prioritization of additional analyses under consideration by the EPA for inclusion in the
Second Draft REA documents are enclosed in Appendix A and the individual Panel member review
comments are enclosed in Appendix B. The CAS AC's key points on both documents are highlighted
below.

The draft HREA and WREA documents are works in progress. The CASAC's advice is provided on
how to improve the assessments and which directions to take as these documents are revised. However,
the CASAC will need adequate opportunity to review the revised documents, given their still
preliminary status.

Health REA

The HREA does not present an adequate conceptual framework for the analyses. The conceptual steps in
an exposure and risk assessment need to be presented, identifying the important elements and types of
methods and tools that are used. The conceptual framework should include a clear definition of
background ozone and describe how background ozone is considered in the risk estimates.

-------
Risk estimates can be developed with reference either to the lowest measured level (LML) of
epidemiologic studies or to zero ozone concentration. The advantage of developing risk estimates relative
to the LML is that the concentration-response (C-R) functions are not extrapolated beyond the range of
data from which they were developed. However, there is little difference between risk results based on the
LML versus those based on zero ozone concentrations. Furthermore, the actual LML is not known for
many of the epidemiologic studies. The advantage of not including both is that lengthy exposition of
methods and surrogate measures of LML, and repetition in providing two sets of results, could be avoided.
However, for completeness, EPA should compare results based on LMLs and zero ozone concentrations
for a few cases, to quantify to what extent results are sensitive to this choice. An approach based on zero
ozone concentration can be used for all cases.

Regarding the methods for simulating just meeting the ozone standard, the CAS AC prefers a model-
based approach over the quadratic rollback approach due to its significant limitations. The CASAC
supports the use of the Higher-order Direct Decoupled Method (HDDM), which provides a protocol for
estimating the minimum emission reductions needed to "just meet" the ozone standard, and it does not
require estimates of background ozone.

The overall methods used to conduct the exposure assessment are sound and seem to make the best use
of available data. However, the description of the methods should include specific information on the
performance and validation of the Air Pollution Exposure (APEX) model and the relevance and
representativeness of the Consolidated Human Activity Database (CHAD) and  other APEX data inputs.
The description of exposure analysis results can be enhanced substantially with more organized
presentation, additional interpretation, and discussion of their implications for later analyses. The
planned uncertainty and sensitivity analyses are appropriately focused on most of the key uncertainties of
the exposure modeling process. The EPA should consider including additional contributors to uncertainty,
such as ozone averting behavior and unaccounted for variability. A description of the methods used to
conduct the uncertainty analysis should be included.

The EPA has appropriately considered use of the 2010 McDonnell model in the risk analysis.  However,
the threshold model described in the more recent 2012 McDonnell study  would provide more  accurate
risk estimates for ozone-induced forced reductions of expiratory volume in one second (FEVi). The
EPA should obtain the necessary clinical data from the study authors to adequately conduct the risk
analysis and should discuss the strengths and limitations of this model. Although FEVi currently appears
to be the best respiratory response indicator to be used in the risk assessment, careful consideration
should be given to other respiratory responses. The EPA should provide a strong and clear rationale for
why FEVi is considered as the principal metric of response rather than other repiratory health responses
reported in the controlled human exposure studies.

The epidemiological studies and the corresponding C-R functions that were selected are appropriate.
The use of multi-city studies, where available, for the health endpoints selected is justified. The
discussion of uncertainty and variability is rigorous; however, exposure measurement error could also be a
source of variability in effect estimates and should be included in the discussion on sources of variability
in effect estimates. The presentation of results can be improved by reducing repetition, and prioritizing and
consolidating results.

-------
The synthesis chapter is currently a summary of the other chapters. Summaries should be given at the
end of each chapter. The synthesis chapter should focus on the most critical findings from the prior
chapters, followed by interpretation, comparison, integration, and implications. The most critical
findings and insights from the synthesis should be provided in figures, tables, or both.

Welfare REA

The current scope of the WREA can be covered more succinctly but should be expanded to include
much more attention to crop yield losses. More attention needs to be given to: (1) effects of ozone on
competition among ozone sensitive species and less sensitive species in mixed-species stands; (2) scaling
from tree seedlings to mature trees; (3) assessing impacts for individual sensitive species; and (4)
assessing impacts for regions with different degrees of ozone exposure, in additional to overall national
assessments.

It is not clear why exceptional events such as wildfires are excluded from the air quality chapter; these
events have a welfare impact, even if they cannot be controlled. The overall approach to developing a
national scale surface of cumulative, seasonal ozone exposures (the W126 index) is suitable. The
quadratic rollback method should not be used for the WREA. Given that a more comprehensive
approach (Community Multi-scale Air Quality with HDDM) is being used in the HREA, its use should
be examined for application for the WREA.  The HDDM sensitivities could be used to reduce ozone at
specific monitors, which are then applied in the Modeled Attainment Test Software (MATS).

Crop yield loss needs greater attention. As summarized in the Integrated Science Assessment for Ozone
and Related Photochemical Oxidants, there  is very strong scientific evidence that ambient ozone
exposure in many locations and years is causing yield loss of sensitive annual  and perennial crops.
Production of food, feed and fiber is an important provisioning service whose impairment presents clear
evidence of an adverse welfare impact. Effects on economically important, ozone-sensitive  crops such
as soybean, cotton and others, should be analyzed at the same level of detail as are individual tree
species in the current draft. This should include projection of crop yield loss estimates for individual
crops in specific production areas under current and alternative projected ozone scenarios. Reduced
yields on a regional basis could constitute an adverse welfare effect for affected growers, while reduced
yields in the United States would decrease global competitiveness of U.S. agriculture relative to farmers
in production areas subject to lower ozone concentrations.

The WREA adequately presents the ecological effects and the broad range of ecosystem services that are
potentially impacted by ozone. The EPA should consider combining the chapters on ecological effects
and ecosystem services, so that the underlying ecological impacts can be more directly linked to the
services they affect. An integrated chapter could allow for deeper understanding of these linkages, a
more brief and focused presentation, and a clearer indication of which impacts and associated services
may be amenable to quantitative or qualitative risk assessment.

The synthesis chapter is more of a summary of results than a true synthesis. Summaries should be placed
at the end of each chapter. This change would result in a consistent organizational structure common to
both the WREA and  HREA documents. The synthesis chapter also should set the stage for the Policy
Assessment for the Review of the Ozone National Ambient Air Quality Standards (PA), so it will be
useful to keep the goals of the PA in mind when developing the synthesis. It would help to integrate

-------
each of the risk sections (Biomass Loss, Foliar Injury, and Ecosystem Services) to provide a
comprehensive and synthetic analysis of the complete welfare impact and associated risks. The order of
presentation is important: a progression from foliar injury risks, to biomass loss, and then ecosystem
risks moves logically up an organizational scale from the best characterized risks with the largest
datasets to the least characterized risks with highly complex interactions, fewer datasets, and qualitative
risk factors. Expanding the discussion of qualitative risk factors would strengthen this chapter.

The CASAC appreciates the opportunity to provide advice on the HREA and WREA documents and
looks forward to receiving the Agency's response and reviewing the revised draft documents.

                                  Sincerely,
Dr. H. Christopher Frey, Chair
Clean Air Scientific Advisory Committee
Dr. Jonathan M. Samet, Immediate Past Chair
Clean Air Scientific Advisory Committee
Enclosures

-------
                                          NOTICE

This report has been written as part of the activities of the EPA's Clean Air Scientific Advisory
Committee (CASAC), a federal advisory committee independently chartered to provide extramural
scientific information and advice to the Administrator and other officials of the EPA. The CASAC
provides balanced, expert assessment of scientific matters related to issues and problems facing the
agency. This report has not been reviewed for approval by the agency and, hence, the contents of this
report do not necessarily represent the views and policies of the EPA, nor of other agencies within the
Executive Branch of the federal government. In addition, any mention of trade names or commercial
products does not constitute a recommendation for use. The CASAC reports are posted on the EPA
website at: http://www.epa.gov/casac.

-------
                        U.S. Environmental Protection Agency
                       Clean Air Scientific Advisory Committee
CHAIR
Dr. H. Christopher Frey, Distinguished University Professor, Department of Civil, Construction and
Environmental Engineering, College of Engineering, North Carolina State University, Raleigh, NC
MEMBERS
Mr. George A. Allen, Senior Scientist, Northeast States for Coordinated Air Use Management
(NESCAUM), Boston, MA

Dr. Ana Diez-Roux, Professor of Epidemiology, School of Public Health, University of Michigan, Ann
Arbor, MI

Dr. Jack Harkema, Professor, Department of Pathobiology, College of Veterinary Medicine, Michigan
State University, East Lansing, MI

Dr. Helen Suh, Associate Professor, Bouve School of Health Sciences, Northeastern University,
Boston, MA

Dr. Kathleen Weathers, Senior Scientist, Gary Institute of Ecosystem Studies, Millbrook, NY

Dr. Ronald Wyzga, Technical Executive, Electric Power Research Institute, Palo Alto, CA
SCIENCE ADVISORY BOARD STAFF
Dr. Holly Stallworth, Designated Federal Officer, U.S. Environmental Protection Agency, Science
Advisory Board (1400R), 1200 Pennsylvania Avenue, NW, Washington, DC 20460

-------
                        U.S. Environmental Protection Agency
                       Clean Air Scientific Advisory Committee
                                  Ozone Review Panel
CHAIR
Dr. H. Christopher Frey, Distinguished University Professor, Department of Civil, Construction and
Environmental Engineering, College of Engineering, North Carolina State University, Raleigh, NC
IMMEDIATE PAST CHAIR
Dr. Jonathan M. Samet, Professor and Flora L. Thornton Chair, Department of Preventive Medicine,
Keck School of Medicine, University of Southern California, Los Angeles, CA
CASAC MEMBERS
Mr. George A. Allen, Senior Scientist, Northeast States for Coordinated Air Use Management
(NESCAUM), Boston, MA

Dr. Ana Diez-Roux, Professor of Epidemiology, School of Public Health, University of Michigan, Ann
Arbor, MI

Dr. Jack Harkema, Professor, Department of Pathobiology, College of Veterinary Medicine, Michigan
State University, East Lansing, MI

Dr. Helen Suh, Associate Professor, Bouve School of Health Sciences, Northeastern University,
Boston, MA

Dr. Kathleen Weathers, Senior Scientist, Gary Institute of Ecosystem Studies, Millbrook, NY

Dr. Ronald Wyzga, Technical Executive, Electric Power Research Institute, Palo Alto, CA
CONSULTANTS
Mr. Ed Avol, Professor, Preventive Medicine, Keck School of Medicine, University of Southern
California, Los Angeles, CA

Dr. Michelle Bell, Professor, School of Forestry and Environmental Studies, Yale University, New
Haven, CT

Dr. Joseph D. Brain, Cecil K. and Philip Drinker Professor of Environmental Physiology, Department
of Environmental Health, Harvard School of Public Health, Harvard University, Boston, MA

Dr. David Chock, Independent Consultant, Bloomfield Hills, MI

                                             7

-------
Dr. William Michael Foster, Professor, Pulmonary and Critical Care Medicine, Duke University
Medical Center, Durham, NC

Dr. David A. Grantz, Department of Botany and Plant Sciences, University of California at Riverside,
Kearney Agricultural Center, Parlier, CA

Dr. Daniel Jacob, Professor, Atmospheric Sciences, School of Engineering and Applied Sciences,
Harvard University, Cambridge, MA

Dr. Steven Kleeberger, Professor and Lab Chief, Laboratory of Respiratory Biology, National Institute
of Environmental Health Sciences, National Institutes of Health, Research Triangle Park, NC

Dr. Frederick J. Miller, Independent Consultant, Gary, NC

Dr. Howard Neufeld, Professor, Department of Biology, Appalachian State University, Boone, NC

Dr. Armistead (Ted) Russell*, Professor, Department of Civil and Environmental Engineering,
Georgia Institute of Technology, Atlanta, GA

Dr. James Ultman, Professor, Chemical Engineering, Bioengineering Program, Pennsylvania State
University, University Park, PA

Dr. Sverre Vedal, Professor, Department  of Environmental and Occupational Health Sciences,  School
of Public Health, University of Washington,  Seattle, WA

Dr. Peter Woodbury, Senior Research Associate, Department of Crop and Soil Sciences, College of
Agriculture and Life Sciences, Cornell University, Ithaca, NY, U.S.A.

* Immediate Past CASAC Member

SCIENCE ADVISORY BOARD STAFF
Dr. Holly Stallworth, Designated Federal Officer, U.S. Environmental Protection Agency, Science
Advisory Board (1400R), 1200 Pennsylvania Avenue, NW, Washington, DC 20460

Mr. Aaron Yeow, Designated Federal Officer, U.S. Environmental Protection Agency, Science
Advisory Board (1400R), 1200 Pennsylvania Avenue, NW, Washington, DC, 20460

-------
                         Consensus Responses to Charge Questions on
                    EPA's Health Risk and Exposure Assessment for Ozone
                      (First External Review Draft - Updated August 2012)
HREA Chapter 1: Introduction

1. Does the Panel find the introductory and background material, including that pertaining to previous
reviews of the ozone standards and the current review, to be clearly communicated and appropriately
characterized?

Although the Introduction is generally clear in its presentation of the background, the sections
discussing the recent history of the ozone standard, such as that preceding the 2008 promulgation and
the subsequent reconsideration, should be revised to reflect the CASAC advice and recommendations
more fully. For example, the text should be particularly clear on the range being considered for the
standard. In particular, when the document states "within the proposed range of 0.070 to 0.075 ppm," it
should state the source of the proposed range. Further, the description of the current 2008 levels of the
standard should clearly indicate that the secondary standard is the same as the primary standard. This is
contrary to the CASAC's advice to have a different index for the secondary standard.
HREA Chapter 2: Conceptual Model / Framework

1. To what extent does the Panel find that the discussions accurately reflect and clearly communicate
the currently available health effects evidence, and the relevance of that evidence for quantitative
exposure and risk assessment, as characterized in the 3rd Draft ISA?

This chapter does a good job of presenting information on the sources of ozone, the various
microenvironments to consider for exposure, at-risk populations, and which health endpoints are most
suitable for inclusion in a risk assessment. However, this chapter does not present a conceptual
framework. The EPA should clearly define the term "conceptual framework" and use it consistently.
Although the chapter provides relevant information  on topics (e.g., chemistry, exposure, endpoints) that
are important for developing a risk assessment framework, it does not place these topics into a working
conceptual framework. This chapter could benefit from figures that describe the conceptual framework
and lead the reader through the framework. The chapter needs to present the conceptual steps in an
exposure and risk assessment, identifying the important elements and types of methods/tools that are
used.
HREA Chapter 3: Scope

1. Does the Panel find the scope of the health risk and exposure analysis is clearly communicated?

This chapter clearly communicates the scope of the health risk and exposure analyses in the HREA.
Further, it discusses the options, caveats, and considerations that are proposed for the second draft.

-------
However, the chapter omits mention of a long-term, national mortality assessment, even though such an
assessment is planned. A comparison table of the results of the analyses conducted for the current
HREA and the 2008 HREA should be added.

2. Based on information in the 3rd draft ISA indicating lack of evidence for a threshold in ozone
concentration-response functions, we have included risk estimates down to zero ozone concentrations.
Based on further discussion in the ISA regarding the decreased confidence in the shape and magnitude
of population health response at very low ozone concentrations, we have also included risk estimates
based on applying concentration-response (C-R) functions only down to the lowest measured level
(LML) in the underlying epidemiology studies.

a) To what extent does the Panel support the use of two different risk estimates, one applying the C-R
function down to zero, and one applying the C-R function down to the LML,  to characterize the range of
risk estimates to balance comprehensiveness of the estimates with confidence in the estimates?

It is valuable to include risk assessment results down to ozone concentrations  of zero. There was little
difference between risk results down to the LML and risk results down to zero ozone concentrations. By
not including risk estimates down to the LML, lengthy exposition of methods and surrogate measures of
LML could be avoided as well as the repetition entailed in presenting two sets of parallel results. An
approach based on zero concentration can be used for all cases. However, because the risk assessments
down to the LML may provide greater confidence in C-R functions when applied to the actual data range
from which the C-R functions were generated, it is possible that risk assessments based on the LML may
provide useful additional information. As a result, EPA should compare LML and zero concentration
based results for a few cases, to quantify to what extent results are sensitive to this choice.

b) What are the views of the Panel on alternative cutoffs based on other points within the distribution of
ozone concentrations used in the underlying epidemiology studies?

The CASAC has no clear recommendations on alternative cutoffs, such as background ozone
concentrations. Including risk estimates down to ozone background concentrations is useful because this is
the range that can be potentially modified by implementation of the ozone National Ambient Air Quality
Standards (NAAQS). Additionally, background ozone is already incorporated in estimates of change in
risk from existing levels to levels that meet the current standard and is planned to be incorporated in
estimates in the next draft involving changes in risk for several alternative levels of the standard.
HREA Chapter 4: Air Quality Considerations

1. To what extent does the Panel consider the years of air quality data to be appropriate for use in the
exposure and risk assessment?

The two overlapping 3-year periods of 2006-2008 and 2008-2010 are appropriate. Although it is
desirable to use the most recent 3-year data period, 2009 and 2010 were relatively low ozone summers
in the eastern U.S., making 2008-2010 a period that may not represent more recent ozone trends. It is
difficult to designate which years are more or less representative than others because both emissions and
climate continue to change. However, 2006-2008 is relevant in that it is the most recent 3-year period

                                               10

-------
for which GEOS-Chem modeling estimates for background ozone are available. These estimates are an
important component of the risk analysis. Information from Eastern U.S. monitor value maps indicate
that the annual fourth-highest 8-hour mean ozone concentrations in recent years (2009 and preliminary
2012 data) can be highly variable (see individual comments). The implications of this variability with
regard to the stability of the risk estimates should be discussed qualitatively.

2. Regarding the methods for simulating just meeting the ozone standard:

a) To what extent does the Panel find that the quadratic rollback approach used in the first draft REA
for simulating just meeting the current standard (including application of US background as a lower-
bound on rollback) is a reasonable approach?

With the lower-bound constraint, the quadratic rollback is a simple observational approach that is
limited by its simplicity, including lack of consideration of ozone chemistry. Many of its shortcomings
are described in the EPA's discussion of the Higher-order Direct Decoupled Method (HDDM) rollback
(Simon et al., 2012).  Given that there is now a more science-based rollback approach, the EPA should
no longer use the quadratic rollback scheme.

b) To what extent does the Panel support using an air quality model based approach for simulating just
meeting the standard in future drafts as a replacement for the current quadratic approach?

A model-based approach is preferred. This would be consistent with how state implementation plans
(SIPs) are developed to meet an air quality objective. However, there are different combinations of
emission reduction strategies possible to achieve just meeting the ozone standard and these may have
different impacts on overall ozone distributions. Thus, a protocol is needed for choosing one
combination in particular.

c) What are the views of the Panel on the strengths and limitations of the proposed approach using the
Higher-order Direct Decoupled Method?

HDDM provides a protocol for the minimum  emission reductions needed to achieve just meeting the
ozone standard, and it does not require estimates of "background" ozone.  The analysis by Simon et al.
(2012) is well done, though the figures (e.g., Figures 8 and 9) and tables (e.g., Table 1) should be more
explicit as to what emissions are being changed.  Sensitivities need to be expressed in terms of emissions
from particular sectors so that the effects of these emission reductions on ozone can be propagated to the
whole domain. The HDDM approach is self-consistent only if the sensitivities are  applied to the
modeled concentration fields. However, past practice has been to use the ratio of observed-to-modeled
concentrations as a relative response factor to scale the modeled concentrations. By judiciously selecting
a set of intermediate-emission scenarios as a base case and using a consistent set of boundary conditions
across model runs, HDDM may be replaced by the simpler first-order direct decoupled method (DDM).
This could be accomplished using multiple model runs to approximate the higher order derivatives of
the change in predicted concentration to changes in emissions. Such an approach would not incur
significant errors in determining the "just meeting the standard" concentration distribution. The EPA
might consider performing a quadratic rollback for one urban area as a basis for comparison between the
old and new rollback approaches.


                                               11

-------
This chapter also briefly discusses the use of a hierarchical Bayesian model to fuse the 2006-2008
monitored ozone data with the Community Multi-scale Air Quality (CMAQ) model-predicted ozone
concentrations to create a spatially-resolved and time-dependent ozone concentration field nationwide.
The spatial distribution of the fused ozone field is highly sensitive to the variances assumed in the prior
distributions for the measurement errors of the monitored and model-predicted ozone concentrations.
The basis of these prior distributions and their implications should be discussed.
HREA Chapter 5: Characterization of Population Exposure

1. To what extent does the Panel find the methods used to conduct the exposure analysis technically
sound? Does the Panel have any recommendations on the methods used?

The overall methods used to conduct the exposure assessment are sound and seem to make the best use
of available data. However, the description of the exposure assessment methods would be improved
substantially with greater clarity and specificity.

In this regard, five specific areas warrant further attention.

   •   First, Section 5.1 should include a figure showing the various models, inputs, outputs, cities and
       years for the population exposure assessment. Such a figure would provide a clear, concise
       overview of the modeling approach and provide context for the rest of the chapter.

   •   Second, the methods used to perform the uncertainty and longitudinal exposure analyses should
       be described, with their objectives and their incorporation into other components of the REA also
       discussed.

   •   Third, given the Air Pollutants Exposure Model's (APEX's) central role in the lung function risk
       assessment, specific information on model  performance and validation should be provided as
       possible, for example for estimated exertion levels.

   •   Fourth, a description of the relevance and representativeness of the Consolidated Human
       Activity Database (CHAD), and other APEX data inputs,  should be included specifically with
       regard to their: (1) age; (2) relevance to children, older adults, and outdoor workers; and (3)
       relevance to the 16 cities to be modeled. For CHAD, concerns may be addressed in part by
       comparing the distributions of percent time spent outdoors for children and other age groups for
       different time periods (for example 1980s,  1990s, and 2000+s). If available, inclusion of
       information from more recent time-activity or exertion databases would be helpful as well. An
       example of such a database is Brochu et al. (2006), which either could be added to the APEX
       database or used to validate the model outputs.

   •   Finally, more precise word choice and labeling of figures  and tables would substantially improve
       the clarity of the chapter.
                                              12

-------
2. To what extent does the Panel find the assessment, interpretation, and presentation of the results of
the exposure analysis as presented technically sound, appropriately balanced, and clearly
communicated?

The presentation and interpretation of results from the exposure analysis can be enhanced substantially
with a clear, organized presentation and the addition of text that discusses the implications of the results
for later analyses. Specifically, the presentation of results would be improved with: (1) the addition of a
written summary of key patterns observed in Figures 5-1 to 5-15 and Tables 4-5 to 4-19; (2) more
specific referencing and labeling of the above figures and tables; and (3) inclusion of results that show
the distribution of exposure estimates for each city (in addition to current presentation of the percent of
people with exposures above benchmark values). Further, although generally well-written and presented,
Section  5.6.1 should note that the findings are based on simulated exposures;  a paragraph should be
added to explain whether and how these findings will be incorporated into the planned uncertainty or
health analyses.

3. Regarding the characterization of uncertainties and variability:

a) To what extent does the Panel find that the uncertainties associated with the exposure analysis are
clearly and appropriately characterized?

b) To what extent does the Panel find that the uncertainty assessment is technically sound? Are there
other important uncertainties which  are not covered?

4. What are the views of the Panel on the sensitivity analyses that EPA plans to conduct as part of the
second draft REA to evaluate the influence of uncertainties in the exposure analysis?

The planned uncertainty and sensitivity analyses are appropriately focused on most of the key uncertainties
of the exposure modeling  process. Additional contributors to uncertainty, such  as ozone averting behavior
and unaccounted for variability, also should be addressed. The document should provide a clear
description of the methods used to assess uncertainty, even if the analysis is qualitative in nature. Possible
approaches to consider include the use of city-specific lower and upper bound estimates of key model
input parameters to reflect uncertainty.
HREA Chapter 6: Characterization of Health Risk Based on Controlled Human Exposure Studies

1. To what extent does the Panel find the methods used to conduct the risk analysis to be technically
sound? What are the views of the Panel members on the methods used?

EPA has appropriately considered use of the McDonnell et al. (2010) model in addition to the
probabilistic method that is currently being used. Use of the McDonnell model for individual response
functions is more likely to capture responses in the population compared to other previous models.
However,  it would be better to fit controlled human exposure/response data to the new model described
in McDonnell et al. (2012). This model  contains a threshold below which no response occurs. The
McDonnell et al. (2012) study states that this new threshold model is likely to provide more accurate
estimates of risk in future risk assessments of ozone-induced FEVi effects. A stronger rationale needs to

                                               13

-------
be provided for why FEVi should be used as the principal metric of response rather than other
respiratory health responses reported in the controlled human exposure studies.

The EPA should obtain the necessary clinical data from the study authors to adequately conduct the risk
analysis using this threshold model. Studies by McDonnell et al. (2012) and Schelegle et al. (2012)
should be included in the ISA and referenced in Chapter 6 of the Health REA.  The REA should discuss
the strengths and limitations of the threshold model relative to the other models discussed in the chapter.

When considering the application of the model to predict risk of a health effect(s) (e.g., a decrement in a
spirometric outcome index), the EPA should consider differences in reported susceptibility between
ethnic groups (see Third Draft ISA, p. 6-22) as well as influence(s) of obesity upon susceptibility to
develop alteration in spirometric indices (see  3rd draft of ISA, p. 6-24). In addition, when considering the
data from controlled exposure studies to be used for the risk analyses (e.g., Schelegle et al.,  2009), the
EPA should carefully consider the dropout percentage of participants prior to completion of the study
and the reasons underlying unusually high dropout rates.

2.  To what extent does the Panel find the assessment, interpretation, and presentation of the results of
the risk analysis as presented in Chapter 6 to be technically sound, appropriately balanced, and clearly
communicated?

Overall this chapter is appropriately organized, documented, and clearly written. A flow chart or
diagram outlining the methodological approach and what key data will be input into the analysis would
be helpful.  There should also be a clear explanation of how background levels  of ozone will be handled,
and if and how FEVi changes in filtered air will be used in the computation of the percent change in
FEVi.

3.  To what extent does the Panel find the focus of the assessment on lung function decrements in the
quantitative risk assessment to be appropriate and informative?

Although FEVi currently appears to be the best respiratory response data set for the risk assessment,
careful consideration should be given to other respiratory responses. As mentioned above, there needs to
be a clear rationale for why FEVi is selected as the principal metric of response rather than other
repiratory health responses reported in the controlled human exposure studies.  FEVi may not be the
most important response to ozone (e.g., inflammation may be equally or more important), but it is the
response that is easiest to measure. It may be  useful to include a statement at the end of section 6.1.1 that
the multiple health endpoints elicited by ozone exposure likely have different mechanistic underpinnings
and do not  necessarily correlate  or co-segregate. Therefore, risk assessment results may be different
depending on which health endpoint is used in the assessment.

4.  What are the views of the Panel on the use  of the two different modeling approaches for specifying the
exposure-response function linking the change in FEVi to ozone exposure?

Risk estimates will vary between the models because they use different approaches. It is important to
understand why the differences exist.  There needs to be an explanation of the model-specific differences
compared to plausible alternative models and why they occur. The ability of the threshold model  of
McDonnell et al. (2012) to reproduce the results of both square wave and variable concentration

                                               14

-------
exposure regimens used in controlled clinical studies supports using this model in the risk assessment.
However, to determine the magnitude of such differences and understanding why these differences exist,
it would be useful to compare the prediction of the two models under various exposure scenarios.

5. What are the views of the Panel on the treatment of the relationship between age anddFEVi in the
McDonnell-Stew art-Smith model?

Although a broad range of ages has not been used in controlled human studies, the treatment of age and
FEVi responses appear reasonable for both the McDonnell-Stewart-Smith model as well as the
recommended McDonnell et al. (2012)  threshold model.

6. To what extent does the Panel find that the qualitative discussion of uncertainty and variability has
covered important sources of uncertainty and variability and has appropriately characterized the
relationship of those sources of uncertainty and variability to the risk estimates?

The HREA identifies key sources of uncertainty and variability, but the discussion should extend
beyond the qualitative to include quantitative uncertainty analysis when appropriate.

7. What are the views of the Panel on additional sensitivity analyses or other approaches to addressing
uncertainty and variability?

The EPA has adequately outlined the nature of various sensitivity analyses that can be used to address
uncertainty and variability. It would be  useful to provide an explanation of any consistent differences
that are found in risk estimates obtained among the various risk models that are used. Generating
confidence intervals for the differences  in risk estimates would be extremely useful.
HREA Chapter 7: Characterization of Health Risk Based on Epidemiological Studies

1. Regarding the epidemiologic studies used in the analysis:

a) What are the Panel's views on the set of epidemiological studies selected for use in specifying C-R
functions and on the set of C-R functions specified for use in the risk assessment?

b) To what extent does the Panel find the detailed descriptions of rationales for the selection of the
epidemiological studies and the selection of the set of C-R functions specified using those studies to be
appropriate and complete?

The epidemiological studies and the corresponding concentration-response (C-R) functions that were
selected are appropriate. The use of multi-city studies, where available, for the health endpoints is justified.
The use of Bayesian shrunken estimates is also justified. The rationales for selecting studies and C-R
functions are clear.
                                               15

-------
2. To what extent does the Panel find that the qualitative discussion of uncertainty and variability have
covered important sources and appropriately characterized the relationship of those sources of
uncertainty and variability to the risk estimates?

The discussion of uncertainty and variability is rigorous and thorough. However, a key source of
uncertainty in ozone epidemiology studies, especially for sensitive and susceptible populations, is
exposure measurement error. Although this source of uncertainty is qualitatively different from the
sources itemized in the draft risk assessment, an attempt should nevertheless be made to address the
impact of measurement error on the C-R functions. Exposure measurement error also could be a source
of variability in effect estimates and should be included in the discussion on sources of variability in
effect estimates.

3. Regarding the results of the risk analysis:

a) What are the views of the Panel on the presentation and discussion of risk estimates, including the
key observations presented in section 7.6.2?

•      There is a great deal of repetition in this draft. This is partly due to parallel presentation and
       description of findings from analyses of risk assuming existing concentrations and risk on just
       meeting the current standard (which may be exacerbated as the number of parallel analyses
       increases in the next draft), and partly due to summaries that go into a level of detail not much
       different from the original presentation of results.

•      More descriptive, simple and standard terminology should be used,  especially in the tables and
       figures. For example, using "total incidence" or "total prevalence" or "mortality" is confusing
       when what is really meant are the total number of incident cases, total number of prevalent cases or
       total  number of deaths.  The EPA should consider using percent attributable risk (or percent of
       attributable deaths) as opposed to "total risk," and percent reduction in  risk or percent reduction in
       absolute number of cases as opposed to "risk delta."

•      Better consolidation in displaying the results is recommended. Specifically, percent reductions and
       absolute reductions in numbers could be combined in the same table or figure. Consider showing
       total  number of deaths attributable to ozone, percent of total deaths attributable to ozone, and
       percent and absolute reduction in number of deaths expected if a given standard were met. These
       data  could be shown side by side in tables or figures for the different urban areas, and for all areas
       combined. The same applies to the morbidity findings.

•      An attempt should be made to prioritize the presentation of results and the sensitivity analyses.
       This will become a more acute issue in the next draft that will include more results from more risk
       assessments as well as more sensitivity analyses.
                                                16

-------
b) What are the views of the Panel on the presentation of the distribution of ozone-related mortality
across daily ozone levels for each city as "heat maps "?

The "heat map" presentation concept is useful; however the document should provide more explanation
of how to interpret the heat maps and more description of the heat map findings. An expanded color
scale to present the heat map findings should be considered.

4. To what extent does the Panel agree with the characterization of overall confidence, including the
degree to which the conclusions reached regarding overall confidence are supported by available
information?

The CAS AC agrees with the characterization of overall confidence.

5. What are the views of the Panel on EPA 's discussion of potential refinements to the REAfor the
second draft, including the plans for quantitative sensitivity analyses, additional refinements to the core
risk estimates, and plans for assessment of long-term mortality and morbidity (i.e., plans to model risk
for mortality and the decision not to model risk for morbidity endpoints, given data limitations)?

The CASAC supports the proposed refinements to the core estimates and the plans for the quantitative
risk analyses for the second draft HREA. At this time, the CASAC does not have a clear
recommendation on whether to include long-term exposure to ozone and respiratory morbidity
endpoints in the next draft  of the HREA. Out of all the potential respiratory morbidity endpoints, only
respiratory symptoms and new-onset asthma are identified in the ISA as endpoints that contribute to the
likely casual determination of the relationship between long-term exposure and respiratory effects.
Based on CASAC comments on the ISA regarding the evidence on new-onset asthma, a risk
assessment for new-onset asthma is not recommended. Further, a risk assessment for respiratory
symptoms is unlikely to be informative. However, because there is a likely to be causal relationship
between long-term ozone exposure and respiratory effects, there is an argument to be made for carrying
out this risk and exposure assessment in the next draft. Because effects on respiratory mortality are
included as one of the "respiratory effects" being considered in this designation, limiting the risk and
exposure assessment of long-term exposure and respiratory effects to respiratory mortality may be the
most reasonable approach.
HREA Chapter 8: National Scale Risk Assessment and Representativeness Analysis

1. What are the views of the Panel on the overall approach used for the national scale risk analysis,
including the ozone concentration methods and metrics, the use of city-specific and national average
concentration-response relationships derived by Bell et al. (2004) andZanobetti and Schwartz (2008)?

The general approach seems reasonable, however this chapter describes the national scale risk
assessment without enough detail to enable the reader to fully understand how it was done. Furthermore,
many of the terms, concepts, and quantities used are not defined clearly or used consistently. This
chapter would benefit from better organization and clearer writing (see individual comments). This
chapter should start with key findings from the ISA that there is likely to be a causal relationship
between short-term exposures to ozone and all-cause mortality and that evidence is suggestive of a

                                               17

-------
causal relationship between long-term ozone exposures and total mortality. The chapter should
emphasize why the assessments are being performed.

The overall rationale for using or not using lowest measured levels (LMLs) should be made clearer. The
actual LML is study-specific but often is not reported. The EPA should develop risk estimates based on
applying the concentration-response functions "down to zero." A limited number of sensitivity analyses
can be done "down to the LML" and interpreted. This issue applies not just to Chapter 8 and should be
implemented consistently throughout the document.

There appears to be the assumption that "policy relevant background" concentration of ozone is 29 ppb,
but it is unclear what the basis is for this concentration. The REA should be consistent with the ISA in
terms of how background is defined, and should provide explanations for which of several possible
definitions are used (e.g., U.S. background, North American background, etc.).

The REA should more clearly justify the use of national average concentration-response functions
applied to locations that were not part of multi-city studies as opposed to, for example, using some type
of regional assignment or inverse distance weighting approach. If it is not feasible to apply these latter
types of approaches broadly, then either a quantitative sensitivity analysis (highly preferred) or a
qualitative discussion of the implications and potential errors of using national averages should be
included.

With regard to whether a threshold-based model might be better, the lack of observed thresholds in the
eight epidemiologic studies could reflect a true linear relationship between ambient exposure and risk or
could be an artifact resulting from measurement error. At the current time, insufficient data are available
to determine which of these is the case.

The EPA should quantify the correlation between exposure metrics, such as the correlation between the
May to September average 8-hour daily maximum concentration versus the June to August average 8-
hour daily mean concentration. The correlation of each of these with the annual 4th highest maximum
daily 8-hour average and with the three-year average of the annual 4*  highest values would also be
informative.

2. What are the views of the Panel on the approach identified for quantifying long-term mortality using
the Jerrett et al. (2009) two-pollutant model national respiratory mortality effect estimate?

The brief description of the plan for the Second Draft REA on page 8-9 seems reasonable. The REA
should be clearer as to the relationship between the short-term and long-term mortality concentration-
response models that will be used - i.e. are they mutually exclusive or does one subsume the other? The
document is not clear as to whether the focus will be the ozone season only or whether it will be based
on year-round data. If the former, a clearer rationale should be given.
                                               18

-------
3. Regarding the representativeness analysis:

a) What are the views of the Panel on the methods and presentation of results for the representativeness
analyses?

b) Does the Panel have suggestions for additional risk characteristics that would be useful to include in
the analysis?

The representativeness analysis seems reasonable in terms of the scope of variables identified, the
analysis of each, and the conclusions reached. The text should be better organized to more clearly state
inferences and findings definitively, rather than offer a tentative finding and then contradict it later (e.g.,
should the number of urban areas be expanded to include higher mortality rates or older populations? -
answer: no, as explained later in the same chapter).
HREA Chapter 9: Synthesis

1. To what extent does the Panel find the synthesis to be a useful integration and summarization of key
results and insights regarding the overall health exposure and risk analysis?

Integration Versus Summary

Currently the chapter is more of a summary than a synthesis. Because an executive summary will be
provided separately, the chapter should focus on integrating key points from the other chapters. Rather
than presenting findings, the synthesis should focus on how key findings relate to each other
(interpretation, implications, and integration) and their importance.

Rationale for Key Concepts

Many of the concepts need further explanation. In particular, the rationale for including risk estimates
based on comparisons to zero ozone concentrations needs to be better described. Although each chapter
is not written as a stand-alone document, this concept will be very confusing to readers who are not very
familiar with the earlier chapters. The rationale could be briefly provided in the synthesis.

Clarity of Language

There are several places where the language is unclear and confusing. In fact, there are a few places
where the text may not be accurate. For example, two studies having 3 of the same 4 cities with the
highest impact does not seem to be a "significant" difference. Care should be taken with the use of the
word "significant," as it has statistical implications. The language that health endpoints "remain" (see
page 9-8), is odd and potentially confusing. The text of "20 to approximately 930 deaths" is potentially
misleading with respect to uncertainty. This text requires context that results are for the various cities,
which, of course, will have different numbers of deaths because of population size. Results described as
having "considerable variation" (see page 9-8) actually appear quite similar. The statement that the
urban study areas provide a good representation of the  overall distribution of risk (see page 9-9) is
unclear as risks may differ in rural environments. These are provided as  examples; the EPA should

                                               19

-------
review the entire chapter for this issue. In addition, the EPA should consider referring back to earlier
tables and chapter sections to help clarify statements.

Presentation of Findings

The chapter includes a useful summary of key findings from risk assessments, including the exposure
and controlled human experiment-based assessment, the short-term epidemiological assessment for
individual cities, and the national scale epidemiologic-based assessment. However, in its current format,
the key points are a bit difficult to discern. In the next version, the EPA should consider providing key
findings in a figure or table. The current version seems to list findings, but may not focus on those that
are central to the EPA's findings.

Sensitivity Analyses

The chapter briefly mentions sensitivity analyses (co-pollutants, additional health endpoints, improved
approach to adjust for ozone levels), but does not give enough information for the CASAC to  assess
them. This will likely receive more attention in the next version of the REA.
                                               20

-------
References Cited

Brochu, P., Ducre-Robitaille, J.-F., and Brodeur, J. (2006). Physiological daily inhalation rates for Free-
Living individuals aged 2.6 months to 96 years based on doubly labeled water measurements:
Comparison with Time-Activity-ventilation and metabolic energy conversion estimates. Human and
Ecological Risk Assessment: An International Journal, 12(4):736-761.

McDonnell W.F., Stewart P.W., Smith M.V. (2010). Prediction of ozone-induced lung function
responses in humans. Inhalation Toxicology., 22(2): 160-168.

McDonnell, W. F., Stewart, P. W., Smith, M. V., Kim, C. S., and Schelegle, E. S. (2012). Prediction of
lung function response for populations exposed to a wide range of ozone conditions. Inhalation
Toxicology, 24(10):619-633.

Schelegle, E. S., Morales, C. A., Walby, W. F., Marion, S., and Allen, R. P. (2009). 6.6-Hour inhalation
of ozone concentrations from 60 to 87 parts per billion in healthy humans. American Journal of
Respiratory and Critical Care Medicine,  180(3):265-272.

Schelegle, E. S., Adams, W. C., Walby, W. F., and Marion, M. S. (2012). Modelling of individual
subject ozone exposure response kinetics. Inhalation Toxicology, 24(7):401-415.

Simon, H., Baker, K., Possiel, N., Akhtar, F., Napelenok, S., Timin, B., Wells, B. (2012) Model-based
rollback using the higher order direct decoupled method  (FtDDM). Available at:
http://www.epa.gOv/ttn/naaqs/standards/ozone/s o3 2008  td.html
                                              21

-------
                         Consensus Responses to Charge Questions on
                    EPA's Welfare Risk and Exposure Assessment for Ozone
                     (First External Review Draft - Updated August 2012)
WREA Chapter 1: Introduction

1. Does the Panel find the introductory and background material, including that pertaining to previous
reviews of the ozone standards and the current review, to be clearly communicated and appropriately
characterized?

The CASAC finds this chapter to be useful and recommends retaining it. However, there are advantages
and disadvantages of having overlap among the related ozone NAAQS documents. There is a need for
documents to be understandable as standalone documents. Material summarizing prior documents
should be brief and focused, with references to specific sections of prior documents.
WREA Chapter 2: Conceptual Model

1. To what extent does the Panel find that the materials accurately reflect and clearly communicate the
currently available welfare effects evidence, and the relevance of that evidence for quantitative exposure
and risk assessment, as characterized in the 3rd Draft ISA?

This chapter is useful and should be retained. However, it can be improved by clarifying the risk
assessment approach, including the tools and approaches to be used and the methods for interpreting the
results. Although there is a lot that is not known about ozone effects on vegetation, there is also a lot that
is known, and it is critical to distinguish what is well-known from what is less well-known. The next
draft should make such distinctions clearer.
WREA Chapter 3: Scope

1. To what extent does the Panel find the scope of the welfare risk and exposure assessment to be clearly
communicated?

This chapter is useful and should be retained. However, the scope can be covered more succinctly, as
is done in the draft Policy Assessment for the Review of the Ozone National Ambient Air Quality
Standards (PA). Additionally, the scope should be expanded to include much more attention to crop
yield losses (for more detail, see responses to Questions 13 and 16). Also, more attention needs to be
paid to:  (1) effects of ozone on competition among ozone sensitive species and less sensitive species in
mixed-species stands; (2) scaling from tree  seedlings to mature trees; (3) assessing impacts for
individual sensitive species; and (4) assessing impacts for regions with different degrees of ozone
exposure, in additional to overall national assessments.
                                             22

-------
WREA Chapter 4: Air Quality Considerations

1. To what extent does the Panel consider the years of air quality data to be appropriate for use in the
exposure and risk assessment?

The two overlapping 3-year periods of 2006-2008 and 2008-2010 are appropriate. While it is desirable
to use the most recent 3-year data period, 2009 and 2010 were relatively low ozone summers in the
eastern United States, making 2008-2010 a period that may not represent more recent ozone trends. The
2006-2008 time period is relevant in that it is the most recent 3-year period where GEOS-Chem
modeling estimates for background ozone are available - an important component of the REA process.

It is not clear why exceptional events such as wildfires are excluded. These events would have a welfare
impact, even if they can't be controlled. The 2008 California wildfires (which accounted for all the
exclusions according to the text) seem like a particularly odd exclusion since Singh et al. (2010) showed
that these fires did not produce significant ozone unless mixed with urban plumes.

2. What are the views of the Panel on the approach used to develop a national scale surface of W126?

The overall approach to  develop a national scale surface of W126 seems appropriate. However, Figure
4-3 shows surprisingly high W126 values over the intermountain west. This must largely reflect
Community Multi-scale  Air Quality (CMAQ) model outputs, because there are not many monitors in
that region. However, the quality of the CMAQ simulation in that region is uncertain. For example, the
W126 hotspot in central  Idaho reflects the simulation of large ozone production from wildfires by
CMAQ, but there is evidence from the literature that models overestimate ozone production from
wildfires (Singh et al., 2010; Alvarado et al., 2010). The REA should be more transparent about which
exposure estimates are based primarily on measurements and which are based primarily on modeling.
Such transparency could be helped by indicating regions on national maps that are based primarily on
modeling and/or showing the locations of ozone monitoring stations on maps.

3. Regarding the methods for simulating just meeting the ozone standard:

a) To what extent does the Panel find that the quadratic rollback approach used in the first draft REA
for simulating just meeting the current standard is a reasonable approach?

A problem with the quadratic rollback method is that it does not  allow for lower ozone  levels to actually
increase in response to controls. Only having the monitors that experience exceedences go down is
problematic, with a specific example captured in the text (if two  sites are close, and one is exceeding,
only that monitor is reduced: page  4-7). The quadratic rollback method produces other inconsistent
results, such as reducing ozone concentrations in central Idaho even though they are of wildfire origin.
For these and other reasons, the quadratic rollback method should not be used for the WREA.
                                              23

-------
b) Does the Panel have suggestions for alternative approaches for simulating just meeting the current
secondary standard or alternative standards based on the W126 metric?

Given that a more comprehensive approach (CMAQ with HDDM) is being used in the HREA, its use
should be examined for application here. The HDDM sensitivities could be used to reduce ozone at the
specific monitors, which are then applied in MATS.
WREA Chapter 5: Ecological Effects

1. Regarding the assessment of relative biomass loss (RBL) for individual species:

a) What are the views of the Panel on the use of the linear model forced through the origin to assess the
proportional relationship between the relative biomass loss (RBL) values for each species comparing
the RBL at recent ambient conditions to the RBL under the scenario modeling ozone just meeting the
current standard?

Either a better justification of the linear approach is needed in the next draft, or the linear approach
should be dropped in favor of the less demanding and less assumption-ridden approach based on the
mean of the ratios.

b) To what extent does the Panel find that this an appropriate analysis to compare the proportional
changes in RBL? Does the Panel have suggestions for alternative approaches that provides a
comparable result and maintains the cell-by-cell approach to help control for environmental
variability?

There was no consensus regarding the comparison of proportional changes (see the individual comments
for specific suggestions). A regional analysis should be included in the next draft.

c) To what extent does the panel agree with the approach used to combine the 11 tree species into one
analysis?

Combining species gives an "average" view, which might be appropriate. However, there is also
significant concern that the averaging obscures important information, especially with regard to
protecting the most sensitive species.

2. Regarding the assessment of RBL for combined species:

a) To what extent does the Panel support the use of the Importance Values from the U.S. Forest Service
to weight the RBL values in extrapolating from individual trees to larger ecosystem level effects?

Weighting the relative biomass loss (RBL) is a useful way to  spatially extrapolate the data and to begin
to get semi-quantitative indices of regional effects. It is an imperfect solution, but in the absence of more
extensive data, it is a reasonable approach (see the response to 8b below).
                                              24

-------
b) What are the views of the Panel on the use of the summed-RBL as a metric to use for assessing effects
at the larger ecosystem scale?

There is the need to account for sensitive and insensitive species, especially for forest species that occur
in mixed-species stands. Total stand response to ozone cannot be estimated using a weighted average
RBL due to competition among sensitive and insensitive species. "The larger ecosystem scale" is not
well defined—this should be rephrased to something more specific, such as effects across hundreds of
kilometers.

c) Does the panel have any recommendations for methods to include a wider range of tree species
(beyond the 8 species included)?

In the absence of data, the  CASAC does not have any recommendations for methods to include a wider
range of tree species. However, the Forest Health Monitoring and Forest Inventory and Analysis
(FHM/FIA) data should be fully explored.

3. What are the views of the Panel on the use of federally designated Class I and Critical Habitat areas
as endpointsfor this analysis? Does the Panel have any suggestions for additional parks beyond Rocky
Mountain National Park and Sequoia/Kings Canyon National Park that should be analyzed? Does the
panel have recommendations for additional or alternative geographic analysis areas that could be
used?

There is a mandate to protect the biological resources within these systems. Because  coastal sites along
the eastern seaboard are subject to high ozone, Class I or Critical Habitat areas in these regions might
also be considered. However, because they  are unique, heterogeneous and/or sensitive landscapes
relative to the rest of the US, they will require careful justification as endpoints that can be generalized.
Additionally, more emphasis and analysis should be devoted to cropland and other vegetation.

4. To what extent does the Panel find that the vegetation mapping data from USGS and NFS used to
generate a scaled-RBL surface in Great Smokey Mountain National Park is appropriate?

For these case studies, it is appropriate and  useful to have finer  spatial scale data for extrapolation and
synthesis. However, see individual comments about overall issues with the scaled-RBL approach (e.g.,
Dr. Woodbury's comments).

5. Regarding the screening level foliar injury risk assessment:

a) To what extent does the  Panel find the updated assessment of foliar injury risk in national parks
originally performed in Kohut (2007) to be  an appropriate screening level risk assessment?

The updated analysis is useful and appropriate, however, only W126 should be used in the analysis.
                                              25

-------
b) What are the views of the Panel regarding the potential methods for estimating ozone exposure at
additional parks ?

If this question is referring to estimating exposure at additional parks without any baseline monitoring of
ozone, then spatial extrapolation/empirical-GIS modeling, and/or "data fusion" approaches are
reasonable. Some parks have conducted passive sampler monitoring campaigns and some of these data
might be used in combination with monitoring data to estimate exposures.

c) What are the Panel's views regarding the appropriateness of requiring that two criteria must be
satisfied (i.e., based on both W126 andN 100) in order to receive higher risk ratings?

It is not useful or appropriate to require satisfaction of two criteria to receive higher risk ratings.

d) Is the Panel aware of any assessments of foliar injury in national parks conducted between 2006 and
2010 that could potentially be used to validate the updated risk ratings?

The CASAC is not aware of any assessments of foliar injury in national parks conducted between 2006
and 2010 and suggests that the EPA check with the park natural resource managers and FHM/FIA
monitoring results.

6. Regarding the assessment of cover of ozone sensitive species:

a) To what extent does the Panel find the preliminary analysis of sensitive species cover to be an
appropriate and useful approach to highlight areas of potentially higher risk due to the presence of
sensitive species?

This topic is important and the analysis has some utility, but there are problems with the current analysis
(see individual comments).

b) To what extent does the Panel find the vegetation mapping data appropriate to assess the cover of
ozone sensitive species in GSMNP?

It is a useful tool primarily because the spatial resolution is high.

c) What are the views of the Panel on the decision to not distinguish between vegetation strata (i.e. herb,
shrub, tree)? To what extent does  the Panel agree with this methodology relative to analyzing the strata
individually?

Although both sensitivity and ozone exposure have been shown to vary with strata, it is likely to be
unfeasible to examine and extrapolate by strata.

d) What are the views of the panel on using benchmarks, similar to those used in the Kohut analysis of
foliar injury risk, to allow estimates of change between exposure scenarios?

These benchmarks may be useful to estimate change, although the analysis is semi-quantitative, at best.


                                               26

-------
WREA Chapter 6: Ecosystem Services

1. To what extent does the Panel find that EPA has adequately characterized the range of ecosystem
services that are potentially adversely affected by ozone?

The use of the Millennium Ecosystem Assessment of 2009 is appropriate. The chapter adequately
presents the broad range of ecosystem services that are potentially impacted by ozone. Consideration
should be given to combining Chapters 5 and 6,  so that the underlying ecological impacts can be more
directly linked to the services they affect. This could allow for deeper understanding of these linkages, a
briefer and more focused presentation, and a clearer indication of which impacts and associated services
may be amenable to quantitative or qualitative risk assessment.

There is a serious omission from the chapter, in that much more attention is required for crop yield loss.
As summarized in the ISA, there is very strong scientific evidence that ambient ozone exposure in many
locations and years is causing yield loss of sensitive annual and perennial crops. It is clear that
production of food, feed and fiber is an important provisioning service whose impairment presents clear
evidence of an adverse welfare impact. Effects on economically important, ozone-sensitive crops such as
soybean, cotton and others, should be analyzed at the same level of detail as are individual tree species in
the current draft. This should include projection of crop yield loss estimates for individual crops in
specific production areas under current and alternative projected ozone scenarios. Reduced yields on a
regional basis could constitute an adverse welfare effect for affected growers, while reduced yields in the
United States would decrease global competitiveness of U.S. agriculture relative to farmers in production
areas subject to lower ozone concentrations. Anecdotal evidence that growers are currently observing
increasing yields cannot be considered counter-evidence regarding negative impacts of ozone on yield.
Modest yield losses are often not discernible without comparison with on-site controls which are not
available to producers. It is likely that improved average yields reflect improved or additional
management inputs which are costly to growers and the environment, and improved germplasm with
greater tolerance of ozone which is costly to society to develop, even if ozone tolerance is not an explicit
selection criterion.

2. To what extent does the Panel agree with EPA 's ecosystem services framework, connecting ozone
exposure, through ecological effects to ecosystem services?

The CAS AC strongly supports the use of an ecosystem services framework. A more direct linkage
between ecological impacts and specific ecosystem services is desirable for the Second Draft WREA.

3. Does the panel agree with EPA 's use of combined ozone exposure data with other data sources (e.g.,
fire data, bark beetle maps, trail maps)  to link areas of concern or interest with areas of higher
vegetative risk due to ozone? Does the Panel have any recommendations for additional datasets and
ecosystem services that could add to or improve these analyses?

The CAS AC has no suggestions of additional datasets to overlay with ozone concentration data to
identify areas of specific concern. The CAS AC supports the use of the spatial information to link
elevated ozone with both intended use (trails) and  secondary threat (bark beetle) information in an effort
to identify such areas for further focus.


                                               27

-------
Overall, the CASAC supports inclusion of secondary effects that may be partially attributed to ozone, or
whose likelihood or severity is increased by ozone. The examples considered in the WREA appeared to
be the strongest available, specifically bark beetle infestation and wildfire. Nevertheless, there is concern
that the data supporting such interactions are often weak or indirect. The EPA is encouraged to attempt
quantitative or semi-quantitative risk analyses of these indirect impacts, with explicit fractional
attribution to ozone, to the extent possible. This is likely to be difficult and uncertain, and EPA has made
this preliminary effort in the current draft. Any initial attempts would be useful, both for the second draft
and to provide direction for future review  cycles. Possible feed-forward effects of ozone on vegetation,
including on volatile organic compound (VOC) emissions leading to greater ozone concentrations, may
be important impacts that should be carried through the analyses.

4. Regarding the analysis of forest yield impacts:

a) To what extent does the Panel agree that the Forest and Agricultural Sector Optimization Model
(FASOM) model is appropriate to assess timber and crop yield changes and the effects of those changes
on additional ecosystem services?

FASOM output can be useful at a national scale, but the implicit averaging of effects in different regions
with different ozone environments could mask important welfare effects occurring at those scales.
Moreover, the market compensation mechanisms and grower choices that are included in FASOM
simulations may not be appropriate as part of a prescriptive estimate of risk.  For example, an avoidance
strategy might be to plant more resistant but possibly less profitable crops to avoid ozone-induced
injury. Indeed, if the economic cost of an avoidance strategy could be quantified, it would represent an
unambiguous adverse welfare impact. A potential underlying weakness of the national FASOM approach
is that it ignores effects of ozone on competition among unmanaged species. For herbaceous species and
woody species, there are data on differential sensitivity and results from observation, theory,  and
physiologically-based modeling showing differential effects on sensitive species grown in competition
with other species exacerbates effects of ozone. However, the effects depend on many competitive
factors rather than just the ozone-sensitivity of each species grown in isolation.

The abundant science underlying adverse  ozone impacts on agricultural yields should be considered
more prominently. The depth of these data sets, and the recent confirmation  of earlier data using newer
exposure protocols, would suggest these impacts are well established and should be given equivalent
weight relative to forest species, in the second draft WREA. This could be considered in a new section
parallel to the current section 6.2.2, including figures similar to 6-4 and 6-5 and Table 6-1. Yield loss in
regions with high ozone exposure should represent clear evidence of an adverse welfare effect on growers
in these areas, a conclusion that is somewhat obscured by sector-wide economic  analyses using FASOM-
GHG. An unbiased evaluation of currently available science, including decades of previous experimental
results and  significant recent confirming evidence, requires that the welfare risk assessment reflect that
major crop  and tree species currently experience growth and yield loss due to ambient ozone in many
regions and years.
                                              28

-------
b) What are the views of the Panel on the extrapolation of concentration-response functions across
similar species?

It is not feasible to obtain concentration-response (C-R) functions for all species, yet there is no reliable
mechanism to infer C-R relationships in a novel species even from knowledge of a closely-related
species. Attributes such as €3 and €4 metabolic groupings, functional groups, and growth environments
could be considered. Consideration of early versus late successional status is a promising classification.
Due to a lack of specific recommendations to be made, the EPA is urged to make such extrapolation
with care, and to fully document the rationale for each such action. The CASAC is concerned about
assigning a C-R relationship of the most sensitive species to other, unknown, species. A more refined
approach would be to assign a moderate C-R function, and to attempt to propagate uncertainties through
the analyses.

The CASAC supports the effort by the EPA to aggregate species to achieve a clearly communicated and
easily understood risk. However, such aggregation would serve to weaken the influence in the
relationships of the most sensitive species, and thereby fail to protect them. Failure to protect the most
sensitive crops could have adverse economic impact and failure to protect the most sensitive native
species could lead to endangered status, extirpation, or even extinction.

5. Regarding the analysis of urban forest impacts:

a) To what extent does the Panel feel that the i-Tree model is appropriate for assessing changes to
urban forest ecosystem services based on ozone exposure?

The use of i-Tree for urban forest species is appropriate, particularly because the model has been
broadly parameterized and supported for use in diverse environments. However, the degree to which the
i-Tree model can represent responses to ozone must be addressed for each endpoint.

b) In order to increase the number of tree species covered by the i-Tree model, does the Panel have
recommendations for additional species that could be included, based on estimates from similar
species?

The CASAC is not aware of additional  species for which data are available, although research underway
at this time may provide additional data for the next review cycle.

6. Regarding the use ofPnET-CN:

a) What are the views of the Panel on the potential use of the PnET-CN model in the 2nd draft to assess
impacts on larger scale ecosystem services  (e.g. hydrologic changes, c sequestration)?

PnET-CN should be fully parameterized for the environments in which it will be employed. Its use will
not allow full description of ozone damage throughout the canopy, nor of competition between species
differing in ozone sensitivity, as it is a big leaf model. However,  its use may allow impacts of ozone that
are well known at a species  level to be scaled throughout the ecosystem.
                                              29

-------
b) Does the Panel have recommendations of other models that are accessible to EPA that could be used
instead of PnET-CN?

The EPA previously used the TREGRO and ZELIG models, which together are capable of extrapolating
from available physiological data on ozone effects on net photosynthesis, to impacts on whole-trees and
mixed species forest stands. The DayCent GHG model might be considered for ecosystem services such
as greenhouse gas production and carbon balance. The CASAC is also supportive of a reconsideration of
the DLEM model.

7. Regarding ecosystem services related to foliar injury:

a) To what extent does the Panel agree that potential visible foliar injury is appropriate to use as a
metric to assess potential loss of cultural services associated with recreation in national parks?

The CASAC is strongly supportive of using visible injury because of its long history of use as a metric,
and because of the Kohut (2007) study  and follow-on studies by the EPA. However, the actual loss of
aesthetic value is less clear. Tourists and nature enthusiasts, when told that visible damage is due to
ozone, are unanimously disturbed. However, unless they are told,  they are often unaware of the damage,
or assume it to be part of the natural landscape. It is unclear whether this is a detrimental effect if they
do not know it is due to ozone. Clearly  future studies could address this impact, using willingness to pay
type studies. However,  given the current lack of quantitative relationships with adversity, inclusion of
the endpoint is warranted, without over-emphasizing it.

The bark beetle-killed conifers in California are considered to be clearly detrimental to viewer pleasure,
whether or not they know the reason for the tree death. Therefore, to the extent that bark beetle
infestation can be linked to ozone, this  is a clear loss of cultural value. The linkage to ozone appears to
be strong, but quantitatively difficult to assess. The EPA is encouraged to attempt semi-quantitative
assessment of the contribution of ozone to the overall mortality.

b) Does the Panel feel that there are ozone benchmarks that could be used to assess changes in foliar
injury potential between exposure scenarios similar to those used by Kohut (2007)?

The Kohut approach to  visible injury would be much more important to the risk assessment if the EPA
could find a way to express it as a C-R  function. However, the data are not easily amenable to this
treatment. Only one ozone metric,  presumably the W126,  should be used to define the risk of visible
injury, rather than the combination with N100 used in the  current draft. Additionally, the risk assessment
as applied to a specific locale, park, etc., should incorporate contemporaneous drought, through the
Palmer Drought Index or other metric,  as this may have large impacts on sensitivity to ozone.
                                              30

-------
WREA Chapter 7: Synthesis

1. To what extent does the Panel find the synthesis to be a useful integration and summarization of key
results and insights regarding the overall welfare exposure and risk analysis?

This chapter is more of a summary of results than a synthesis of the WREA document. The EPA has
noted that they will work to produce a true synthesis in the next version. Although the summaries bring
together the main accomplishments and results of each previous chapter, they should be placed at the
end of each chapter rather than in the synthesis chapter. This change would result in a consistent
organizational structure common to both the WREA and HREA documents. The content of this
synthesis chapter also should make a logical progression to the PA document, so it will be useful to keep
the goals of the PA in mind when developing the synthesis.

The scope of the risk analysis should be expanded to include much more attention to crop yield losses
given the extent of scientific understanding on this topic (for more detail, see responses to Questions 13
and 16). Also, as mentioned in previous comments, more attention needs to be paid to (1) effects of
ozone on competition among ozone sensitive species and less sensitive species in mixed-species
stands, (2) scaling from tree seedlings to mature trees, (3) assessing impacts for individual sensitive
species, and (4) assessing impacts for regions with different degrees of ozone  exposure, in addition to
overall national assessments. Once these analyses are completed, they should  be included in this
synthesis chapter.

It would help to integrate each of the Risk sections (Biomass Loss, Foliar Injury, and Ecosystem
Services) to provide a comprehensive and synthetic analysis of the complete welfare impact and
associated risks.  The order of presentation here is also important: a progression from foliar injury risks,
to biomass loss, and then ecosystem  risks moves logically up an organizational scale from the best
characterized risks with the largest datasets to  the least characterized risks with highly complex
interactions, fewer datasets, and qualitative risk factors. The current WREA contains a clear delineation
of those risk factors that can and cannot be quantified in this version of the WREA, and both sets of
risks are important in the final risk assessments. Expanding the discussion of qualitative risk factors
would strengthen this section.

-------
References Cited

Alvarado, M. J., Logan, J. A., Mao, J., Apel, E., Riemer, D., Blake, D., Cohen, R. C., Min, K. E.,
Perring, A. E., Browne, E. C., Wooldridge, P. J., Diskin, G. S., Sachse, G. W., Fuelberg, H., Sessions,
W. R., Harrigan, D. L., Huey, G., Liao, J., Case-Hanks, A., Jimenez, J. L., Cubison, M. J., Vay, S. A.,
Weinheimer, A. J., Knapp, D. J., Montzka, D. D., Flocke, F. M., Pollack, I. B., Wennberg, P. O., Kurten,
A., Crounse, J., Clair, Wisthaler, A., Mikoviny, T., Yantosca, R. M., Carouge, C. C., and Le Sager, P.
(2010). Nitrogen oxides and PAN in plumes from boreal fires during ARCTAS-b and their impact on
ozone: an integrated analysis of aircraft and satellite observations. Atmospheric Chemistry and Physics,
10(20):9739-9760.

Kohut, R. (2007).  Assessing the risk of foliar injury from ozone on vegetation in parks in the US
National Park Service's Vital Signs Network. Environ Pollut, 149:348-357.

Singh, H. B., Anderson, B. E., Brune, W. H., Cai, C., Cohen, R. C., Crawford, J. H., Cubison, M. J.,
Czech, E. P., Emmons, L., Fuelberg, H. E., Huey, G., Jacob, D. J., Jimenez, J. L., Kaduwela, A., Kondo,
Y., Mao, J., Olson, J. R., Sachse,  G. W., Vay, S. A., Weinheimer, A., Wennberg, P. O., and Wisthaler,
A. (2010). Pollution influences on atmospheric composition and chemistry at high northern latitudes:
Boreal and California forest fire emissions. Atmospheric Environment,  44(36):4553-4564.
                                              32

-------
                                       Appendix A

                    CASAC Ozone Review Panel Assignment of Priorities of
Additional Analyses under Consideration by EPA for Inclusion in the Second Draft Ozone Health
                                Risk and Exposure Assessment

Chapter 2 - Conceptual Framework

1.      Addition of conceptual framework diagram and additional text laying out conceptual framework
       in more clear terms, e.g. major steps in analysis, key inputs, analytical outcomes, risk
       characterization. - High

Chapter 4 - Air Quality Considerations

1.      Continued evaluation of CMAQ-HDDM methodology for adjusting ozone air quality
       distributions to simulate just meeting the current and alternative standards. Conditional on
       positive evaluation, considering implementing CMAQ-HDDM adjustments for the 2n draft
       REA, including the following updates to the CMAQ-HDDM model:
          a.  Update to the 2007 modeling platform - A Given
          b.  Include a longer modeling period (we have not determined if we will model the whole
             year or just May-Sep, Apr-Oct. . . this will depend on what is feasible time-wise and
             what is deemed necessary) - Move to whole year, as  resources allow
          c.  Update to CMAQvS.O if it is available (HDDM is not yet available in CMAQvS.O and
             there is no guarantee that it will be ready in time but if it is we'd like to use it) - Low
          d.  If time permits, explore other approaches for grouping modeled and observed days into
             bins and calculating  average sensitivities. - Low
          e.  Expand to 16 cities (from the 2 cities evaluated in the Simon et al memo) - Must
          f.  Considering expanding to two DV periods (we only analyzed 2006-2008 for the memo
             but we plan to add 2008-2010 for the 2nd draft) - Must
          g.  Evaluating  possibility of using combinations of NOx/VOC reductions. - Do only for a
             few cities

An additional item we are  now considering:

2.      Evaluation of feasibility of estimating background ozone both using the CMAQ-HDDM model
       configuration and other available models, as well as considering multiple estimates of
       background based on alternative definitions - Document in ISA use of HDDM

Chapter 5 and Chapter 6

1.      Addition of 12 additional urban areas for a total of 16 urban areas - A Given
2.      Addition of exposure estimates for outdoor workers and people > 65 years old - High
3.      Addition of exposures estimated for air quality just meeting alternative standards and change in
       exposure between scenarios just meeting current and alternative standards. - High
                                            A-l

-------
Chapter 5 (Exposure Assessment)

1.      Improvement in the depth and clarity of documentation, presentation of results, and discussion of
       results; present distributions of exposures - High
2.      Addition of discussion of representativeness of the 16 urban areas for exposure assessment -
       High
3.      Addition of sensitivity analyses (effects on exposure distributions and lung function risk):
          a.   Considering evaluation of exposures above background concentrations - Potentially
              High
          b.   Considering evaluation of representativeness of CHAD activity patterns (geographic
              location, SES factors, occupation, changes over time for adults and for children,
              high/medium/low ozone days, and other factors to be determined) - High
          c.   Considering developing a method for spatial interpolation of ambient ozone
              concentrations - Low
          d.   Considering evaluation of exertion levels associated with  activities (especially outdoor
              activities) (model performance validation) - High
4.      Analysis of repeated exposures for cohorts of school children (i) during the school year, (ii)
       during the summer (vacation) - High
5.      Additional clarification of types of uncertainty characterization (qualitative, sensitivity analyses,
       influence assessment, etc.) - High

Chapter 6 - Lung Function Risk Assessment

1.      Conditional on availability of data from study authors, update the two lung function risk models
       with data from additional clinical studies (including Kim et al. (2011) and Schelegle et al.
       (2009)). - High
2.      Conditional on availability of data from study authors, and inclusion in the final ISA, evaluate
       the potential for using the McDonnell et al. (2012) model in estimating lung function
       decrements. To implement the model in APEX, EPA needs the data used to fit the model to
       evaluate the uncertainty of the model. - High

Chapter 7 - Urban Area Case Studies

1.      Addition of assessment of risks remaining after just meeting alternative standards and
       incremental risk reductions for alternative standards - High
2.      Addition of assessment of respiratory mortality risks from long term ozone exposures - including
       potential sensitivity analysis based on modeling risk using regional effect estimates -  High
3.      Addition of confidence intervals for estimates of risk reductions between recent conditions and
       just meeting current standards and between current standards and alternative standards - High
4.      Conditional on availability of data from study authors, consideration of adding sensitivity
       analyses for alternative model specifications (e.g., lag , co-pollutant, regional vs national priors)
       for short-term exposure-related mortality and morbidity - Low except for co-pollutant (high
       priority); if there is literature relating to specific city on these factors, discuss
5.      Consideration of analysis of composite monitor constructs, e.g. MSA averages, used in source
       epidemiological studies to  determine if we should more closely match those structures in our risk
       modeling - Low, but beef up citations

                                              A-2

-------
6.      Addition of further analysis of patterns of interest in risk assessment in order to provide better
       evaluation of results (e.g., explanation of substantially larger effect estimates for short-term
       exposure related mortality in some cities) - Nice to do
7.      Conditional on availability of data from study authors, use of actual LML values from
       epidemiological studies (alternatively, if those data are not available, we are considering
       constructing LML values based on AQS data for the time periods matching those used in the
       studies) - Low
8.      Consideration of sensitivity analysis using interpolation of missing ozone data in deriving
       composite monitor values (similar to exposure analysis approach) - Low

Chapter 8 - National Scale Recent Conditions Risk Analysis

1.      Addition of estimates of long-term exposure respiratory mortality - High
2.      Correction of error in May-September average 8-hr daily maximum concentrations - High
3.      Application of May-September city-specific concentration-response factors from Bell et al.
       (2004) if available-High
4.      Conditional on availability of NMMAPS LML values from study authors, application of those
       LML values to Bell et al. (2004) mortality estimates - Low
5.      Conditional on availability of data from study authors, consideration of using city-specific LMLs
       for cities included in NMMAPS - Low

Chapter 8 - Assessment of Representativeness of Urban Case Study Areas

1.      Consideration of using American Time Use Survey (ATUS) data to compare national
       representativeness of selected urban areas for time spent outdoors - Low
                                              A-3

-------
                                    Appendix B
      Compendium of Individual Comments by CASAC Ozone Review Panel Members on
                  EPA's Health Risk and Exposure Assessment for Ozone
                    (First External Review Draft - Updated August 2012)
                                         and
                    Welfare Risk and Exposure Assessment for Ozone
                    (First External Review Draft - Updated August 2012)
Mr. George A. Allen	B-2
Mr. EdAvol	B-6
Dr. Michelle Bell	B-12
Dr. Joseph D. Brain	B-15
Dr. David Chock	B-18
Dr. Ana Diez-Roux	B-20
Dr. William Michael Foster	B-24
Dr. H. Christopher Frey	B-27
Dr. David A. Grantz	B-37
Dr. JackHarkema	B-42
Dr. Daniel Jacob	B-44
Dr. Steven Kleeberger	B-47
Dr. Frederick J. Miller	B-49
Dr. Howard Neufeld	B-57
Dr. Armistead (Ted) Russell	B-65
Dr. Helen Suh	B-71
Dr. James Ultman	B-74
Dr. Sverre Vedal	B-77
Dr. Kathleen Weathers	B-80
Dr. Peter Woodbury	B-87
                                         B-l

-------
                                  Mr. George A. Allen
Comments on the Health Risk and Exposure Assessment

Comments on Chapter 4 - Air Quality Considerations

5. To what extent does the Panel consider the years of air quality data to be appropriate for use in the
exposure and risk assessment?

The two overlapping 3-year periods of 2006-2008 and 2008-2010 are appropriate. 2006-2008 is relevant
in that it is the most recent 3-year period where GEOS-Chem model run data for background O3 data are
available - an important component of the REA process.

While it is desirable to use the most recent 3-year data period, 2009 and 2010 were relatively clean
ozone summers in the eastern US, making 08-10 a period that may not represent current ozone trends.
Ozone events during the summer of 2012 in the eastern and central US have dramatically reinforced that
concept. Below are maps of data from ozone monitors in the eastern and central US that show the range
of the 4th highest 8-h mean for the year, for both 2009 and 2012. 2009 data are from AQS, while 2012
preliminary data are from AIRNow tech. Maps were generated by Maine-DEP.
     -th
2009 4  highest 8-hour mean by monitoring site (AOS data)
                                            B-2

-------
      ,,th
2012 4  highest 8-hour mean by monitoring site (preliminary data)
 6. Regarding the methods for simulating just meeting the ozone standard:
 a) To what extent does the Panel find that the quadratic rollback approach used in the first draft REA
for simulating just meeting the current standard (including application of US background as a
 lower-bound on rollback) is a reasonable approach?

 With the lower-bound, the quad-rollback is a reasonable approach, but does have substantial limitations
 inherent in its simplicity and lack of any chemistry.

 b) To what extent does the Panel support using an air quality model based approach for simulating just
 meeting the standard in future drafts as a replacement for the current quadratic approach?
                                             B-3

-------
There is potential for improvement in rollback estimations using air quality model-based approaches as
noted in the Simon et al. memo; see c) below. I encourage EPA to continue to explore such alternatives.

c) What are the views of the Panel on the strengths and limitations of the proposed approach using the
Higher-order Direct Decoupled Method?

Air quality model-based rollback approaches such as HDDM have the potential to capture important
features that are lost with a simpler rollback method. Another advantage of HDDM is that it does not
need any external estimate of ozone background.

The Simon memo shows interesting examples from Atlanta where rollback concentrations at core urban
sites are similar using both the quadratic and HDDM methods,  but are substantially lower at non-core
urban sites using HDDM. For Detroit, HDDM and quad rollbacks are similar for VOC reduction
scenarios for both core and non-core sites, but HDDM rollbacks are lower for NOx reduction scenarios.

There was some discussion during the review of performing a "classic" quadratic rollback for one urban
area as a basis for comparison between the old and new rollback approaches. This would be useful to
assess the difference between the old and new rollback approaches.

Comments on the Welfare Risk and Exposure Assessment

Comments on Chapter 4 - Air Quality Considerations

4. To what extent does the Panel consider the years of air quality data to be appropriate for use in the
exposure and risk assessment?

The two overlapping 3-year periods of 2006-2008 and 2008-2010 are appropriate. While it is desirable
to use the most recent 3-year data period, 2009 and 2010 were relatively clean ozone summers in the
eastern US, making 08-10 a period that may not represent current ozone trends. Ozone during the
summer of 2012 has reinforced that concept. 2006-2008 is relevant in that it is the most recent 3-year
period where GEOS-Chem model run data for background O3 data are available - an important
component of the REA process.

5. What are the views of the Panel on the approach used to develop a national scale surface of W126?

Section 1.2.3 of the Wells memo describes the data fusion approach using CMAQ and monitoring data
to create fused spatial 12x12 km grid surfaces for each of 2006, 2007, and 2008 as well as the 3-year
average. This is likely to work reasonably well in the eastern US where the ozone  monitoring network is
more dense. In the western US, there are large areas with no monitors as well as more complex
topography; both of these present challenges for any attempt to model a national ozone surface.
6. Regarding the methods for simulating just meeting the ozone standard:
a) To what extent does the Panel find that the quadratic rollback approach used in the first draft REA
for simulating just meeting the current standard is a reasonable approach?

With the application of US background as a lower-bound, the quad-rollback is a reasonable approach,
but does have limitations inherent in its simplicity and lack of any chemistry.

                                             B-4

-------
b) Does the Panel have suggestions for alternative approaches for simulating just meeting the current
secondary standard or alternative standards based on the W126 metric?

Not at this time. The Higher-order Direct Decoupled Method or other possible air quality model based
approaches have not yet been evaluated for this metric.
                                             B-5

-------
                                        Mr. Ed Avol


Comments on the Health Risk and Exposure Assessment

Comments on Chapter 4 Charge Questions

5. To what extent does the Panel consider the years of air quality data to be appropriate for use in the
exposure and risk assessment?

The decision to use 2006 to 2010 data does raise some issues. As Figure 4.2 shows, there is a marked
decrease in most of the urban areas being assessed in 2008 and 2009. The root causes for these declines
- be it national economics, meterological changes, successful emission reduction strategies, or
something else— is arguable. However, this dramatic drop raises questions about how representative this
time period is for long-term estimates of risk and exposure. The regulatory five-year review cycle
prevents waiting for another year or two of data to see if this was an anomaly, so I understand why it is
being used, but I worry a bit that the "dip"  may be an  artificial one, and using it to assess risk may lead
to under-estimates of public health effects.

General Comments on Chapter 4

The document lays out a thoughtful and broad approach to addressing the risk issues associated with
short and long-term  ozone exposures. The use of a large number of city-specific data, drawn from across
the country, regions, and meteorologies is encouraging, although there are still some nagging concerns
about under-representation of higher-exposure areas.

Given the high rates of asthma and poor air quality in California's Central Valley, for example, it's  a
shame that the information either wasn't available or that Fresno CA was not selected for study
inclusion. This is a community with a history of high asthma rates, low socio-economic status, a
substantial population  of Hispanics, and very poor air quality (both with respect to the rest of the country
and in the context of non-compliant regions within CA). Fresno will continue (for years) to be a
community impacted by a challenging array of environmental issues. If it were possible to  review the
criteria for urban area inclusion, the inclusion of Fresno (even in place of Sacramento) would be worth
considering, in my judgment. Alternatively, potential  confounding by agricultural exposures
(pesticides), wind-blown dust (Valley Fever), and health care access in this region would have made this
a challenging (but nevertheless valuable) area to consider.

Specific Comments on Chapter 4

1. Introduction

1.      Pgl-5 to Pg 1-6: This justification,  as to what the previous Administrator "place primary
consideration on" or "recognized" or "placed less weight on" or ... seems inappropriate in  the context of
the document. The previous accumulated data was presented to the previous Administrator and a
decision was rendered. How can we say (or do we need to) what made the Administrator decide the way
he did? This reads like an attempt to justify the Administrator's actions. This revisionist

                                              B-6

-------
history/justification of a previous controversial decision that arguably should not be a part of this REA
presentation of facts and analyses. Therefore, in my opinion, this section should either be severely edited
or removed.
2.     Pg 1-6, line 9: font size error
3.     Pg 1-7, lines 1 to 3: awkward sentence (run-on); change to ".. .might be considered, including..."

2. Conceptual Framework

4.     Pg2-l, line 26: "Titration is usually short-lived..." is this what is really meant, or do you mean to
say that it is usually a spatially-limited phenomena, due to nearby NOx sources (as the sentence goes on
to say)? It's not really "short-lived", since the reduced local ozone concentrations will persist in that
location, so long as the proximal NOx source continues to provide NOx for titration.
5.     Pg2-5, line 19: delete "that"
6.     Pg2-6, line 2: change "environments" to" locations"
7.     Pg2-6, Iines21 to 23: change to read "... lifestage (children less than 18 years of age, adults older
than 65 years of age), diets...'
8.     Pg2-6, Line 24: change "pound of body weight" to "unit of body weight" (... and shouldn't this
be kilograms, anyway?)
9.     Pg2-6, line 26: change from "... and their lungs  continue to develop until they are fully grown..."
to ".. .and are in a critical time period of rapid lung growth and organ development.
10.     Pg 2-7, lines 4 to 5\: change to read "... including children, older adults, people with asthma, and
people with low socioeconomic status..."
11.     Pg2-7, line 5 - how will risk assessments be focused on low SES segments of the population?
There is lots of discussion about children and asthmatics, some comments about older adults, but
relatively little in the way of specifics regarding low SES.
12.     Pg 2-7, line 16:  add a comma so that line reads "... suited to risk assessment, because..." and
remove the comma on the next line, so that it reads ".. .air pollution exposure and include responses..."
13.     Pg2-7, line 25 - change to read "... controlled human exposure studies are generally focused on
small numbers of individuals in good or moderate health..."; the two central issues here are (1) that only
a small number of people can participate, and (2) that ethical concerns dictate that those  severely
compromised or in poor health not participate in such studies.
14.     Pg2-7, line 27: this is incorrect; the issue is NOT that chamber studies are biased away from
highly susceptible individuals (many susceptible sub-groups are, in fact, sought out for study
participation); the issue is that those with the most compromised health status cannot ethically be asked
to participate in these studies.
15.     Pg 2-7,line 27-29: This is an overly simplistic, naive, and incorrect perspective on what health
outcomes can be evaluated in controlled chamber studies; a wide range of inflammatory, blood,
neurological, cardiovascular, respiratory, etc endpoints can and have been used to quantify observable
changes, well beyond collection of symptoms or forced exhalation (although those seemingly simple
observations continue to be important, as well).
16.     Pg2-8, line 3: delete one of the "human" references from the phrase " ...human controlled human
exposure studies..."
17.     Pg2-8, line 10: change to read ".. .more serious  or chronic health endpoints..."
18.     Pg2-8, lines 12 to 15: change these lines that presently read ".. .includes both more sensitive and
less sensitive individuals, and thus may be able to identify more serious health effects in at-risk
subpopulations which cannot be evaluated in controlled human exposure studies which generally

                                              B-7

-------
exclude individuals likely to experience significant adverse health effects from O3 exposure..." to
"... and is therefore more likely to include a broad range of susceptibilities and sensitivities, compared to
controlled human exposures, which involve a smaller number of individuals over a more limited health
status range."
19.    Pg2-8, line 20: add comma after "...controlled human exposure.
20.    Pg2-9, Figure 2-1: change legends to read "Short-term O3 exposures"  and "Long-term O3
exposures".
21.    Pg2-9, line 16: add comma after ".. .hospital admissions"
22.    Pg2-9 linel? to Pg 2-10 line 2: This is awkwardly phrased - OF COURSE the evidence is not
consistently supportive of a relationship between short-term O3 metrics and asthma medication use in
children who don't have asthma...!

3.  Scope

23.    Pg3-2 line 20 - replace ".. .done as part of..." with ".. .included in..."
24.    Pg3-3 Iinel2 to 13: add parentheses, so sentence reads ".. .counts of person-occurrences (which
accumulate occurrences...over an O3 season)."
25.    Pg3-3 Iine22: run-on sentence needs punctuation; change to read ".. .moderate or greater
exertion. Health effects observed..."
26.    Pg3-4, line 1 change to read ".. .based on both controlled human exposure studies and
epidemiological studies."  (..the current sentence seems incorrect, since it refers to "both" but lists three
items...)
27.    Pg3-4, line 22: add hyphen between "location" and "specific"
28.    Pg3-4, lines 27 to 30 :  sentence seems redundant.
29.    Pg3-5, line 18: change to : ".. .in the general and susceptible populations, respectively,.."
30.    Pg3-5, Iine26: add comma, so that sentence reads "... be considered, including..."
31.    Pg3-7, lines 17 to 21: run-on sentence needs editing, breaking down into shorter sentences with
focused statements.
32.    Pg3-8, line 23: insert comma to read "... quality, as evaluated..." and remove comma at end of
line (following "...(U.S. EPA, 2008a)"
33.    Pg3-8, line 24: add commas to read "... This information, along with additional analyses,..."
34.    Pg3-8 Iine27: change sentence to read "... alternative standards, to be presented in the second
draft REA..."
35.    Pg3-9, lines 1 to 3: change sentence to read "This information is then used to place the relative
comparative attributes of the selected study areas into a broader national comparative context."
36.    Pg 3-10, line 6: delete  "..., including....", and replace with ":
37.    Pg3-10, lines 10 to 14: the sentence as presented does not make sense  and needs to be broken
apart and re-worded.
38.    Pg3-10, line 15: "...controlled human exposure studies have only examined markers of short-
term reversible lung responses...' is an incorrect statement, since there have been numerous controlled
exposure studies evaluating cardiovascular as well as neurological outcomes,  to mention two broad
classifications.
39.    Pg3-13, Iine23: Either  a word is missing from this sentence, or the order is incorrect; re-word so
line reads "Risk measures for  lung function risk assessment estimated.
40.    Pg3-14, line 1: age parenthetical comment needs correction.
41.    Pg3-16, line 12: change to read ".. .the 12 case study urban areas."

                                              B-8

-------
42.    Pg3-16, Iine29: rewrite so line reads ".. .for which wepresently only provide..."
43.    Pg3-17, line 29: text says blue text in Fig3-3 summarizes data outputs, but Figure 3-3 caption
says blue identifies user=selected inputs...???
44.    Pg3-18, Figure 3-3: for consistency and readability, consider adding "Black identifies..."
45.    Pg3-19, line?:  change "of just" to "restricted to"
46.    Pg3-19, line 8: add "effects" after the phrase "short-term"
47.    Pg3-19, line 9: replace "higher confidence" with "greater confidence"
48.    Pg3-22, line 26: change "risk" to "risks"
49.    Pg3-22, line 27: reword so line reads ".. .as well as core risk estimates^br ozone..."
50.    Pg3-22,line28: remove "zero" and insert "0 ppm"
51.    Pg3 -22, line 28: change end of sentence to read "... (LML) observed in the
epidemiology.studies."
52.    Pg3-22, line 31: change line to read "... a no-effects threshold have indicated a generally linear C-
R function, with no indication of a no-effects threshold in analyses examining the 8-hour..."
53.    Pg3-23, Iine6:  add comma to read ".. .ozone is reduced, because..."
54.    Pg3-23, line 8; change "higher confidence" to "greater confidence"
55.    Pg3-23, line 15: insert Figures reference at end of sentence (since comments refer to vertical
lines on specific plots  without reference), so it reads ".. .(see Figures	)."
56.    Pg3-25, line 7: is there a reference missing or an extra space?

4.  Air Quality Considerations

57.    Pg4-l, line 3: change "Chapters 5-7" to "Chapters 5  to 7" (since pages are identified by the
chapter-dash-number designation)
58.    Pg4-l, line 9 and 10:  punctuation corrections to sentence, so that it reads "The four urban areas
evaluated for this  first draft were: Atlanta GA; Denver CO; Los Angeles CA; Philadelphia PA."
59.    Pg4-l, Iines27 to 29:  re-word to read ".. .from zero to four, from areas with a population.. .of the
NAAQS, to areas with a population.
60.    Pg4-2, linel: change "must be designed to record" to "must be located to capture"
61.    Pg4-3, Figure 4-2 illustrates an observation, which may be relevant - the potential impact of the
economic downturn and climate change on air quality trends. Since the 2006 to 2010 time period is
identified for consideration in this document, should there be "some  consideration" of these "exceptional
events" (i.e., economic effects, atypical summer weather)?

5.  Characterization of Human Exposure to Ozone

62.    Pg5-l, lines 23 to 26: It is appropriate that there be a strong emphasis on children, given their at-
risk designation, but the lack of focus (or perhaps information) on children age 0 to 5 years is a gap of
concern. Given the importance exposures during this time window have been demonstrated to have, in
terms of subsequent health outcomes, the absence of any attempt to model exposures for children 0 to 5
years of age is a missing part that needs to be filled.
63.    Pg5-l 1 to  Pg5-12, Table 5-1: The CHAD data set  has been invaluable in providing useful
activity data,  but the patterns of activity of children are likely changing. The emergence of electronic
media (television, electronic  games, electronic entertainment via cell phones, time spent on Facebook
and other social media sites,  etc) and its availability to broad groups  over a wide age and socioeconomic
range, as well as social shifts in time spent outdoors due to safety concerns, availability of parks and

                                              B-9

-------
outdoor sport venues, or employment and child-care considerations, have potentially shifted children to
more sedentary and indoor activities in the past decade. CHAD data relies primarily on data collected in
the 1980s and 1990s, based on Table 5-1, so there is the concern that available exposure assignments
may not well-represent the current population. This is another data gap that should be evaluated and
potentially re-visited and addressed.
64.    Pg5-20, lines 2 and 3: Is the decision to "not (take) these younger (than five years old) children
into account in our analysis..." due to lack of such data in the CHAD data base, or the general lack of
such information anywhere? In other words, is this an issue that might be addressed by some effort to
update CHAD, or is there a need for original data collection?

7.  Characterization of Health Risk Based on Epidemiological Studies

65.    Pg7-34 Section 7.4: the discussion on variability and uncertainty is worthwhile and extended (a
page and a half), but it is repetitive with previous sections. In fact, it appears to be almost a verbatim
repetition, so some editing to place this discussion in one  section, then refer to it from others, would
seem more appropriate.
66.    Pg7-76, title of section 7.7, "refinements" is mis-spelled.

8.  National Scale Assessment of Short-term Mortality Related to O3 Exposure

67.    Pg8-4, Figure 1.2: it's surprising that none of the Los Angeles, Houston, or Atlanta metropolitan
regions show up on this figure as having elevated May-September average 8hr daily maximum levels of
concern...is this a  problem with the model, the mapping, my interpretation,...?
68.    Pg8-4, Figure 1.3: ... still surprising that the Houston area does not show anything of note
here...?
69.    Pg8-7, lines 22 to 27: This  sentence about what has been done in this first draft, and what will be
done in the 2nd draft RE A, is worded awkwardly and somewhat confusing to the reader. Are you
proposing that in the second draft document, you will only estimate risks for May to September, and not
consider the ozone mortality impact outside of that time window, because ".. .the higher effect estimates
derived from year-round O3 data may yield an equivalent O3 mortality impact as the lower effect
estimate derived from the warm season O3 data only?" (lines 23 to 25)? Is this the test threshold being
applied? What if the estimates are not equivalent?
70.    Pg8-8, linesl to 3: Is applying a "national average to grid cells outside of the urban areas
included in the studies the best we can do? Would some regional assignment or inverse-distance
weighting approach be any better? I raise this point to address the potential concern that larger
populations in certain states (populations near locations of higher ozone but not in the cities for which
data exist) may be "under-assigned" through the  use of a national average, and that the magnitude of that
under-assignment (due to population density) might be larger than the over-assignment (through the use
of the national average) in other parts of the country.
71.    Pg8-8, Iinesl8-19: is the "concentration threshold  assumption intact, in light of the  recent
publication of McDonnell et al (Inhalation Toxicology Aug 2012) which argued that the threshold  model
was superior in fitting the available data? One published study should not necessarily "undo" all
previous work, but it does open the door to discussions about alternative considerations. The McDonnell
et  al study is based on controlled human exposure research, and chamber work provide critically
important insights into human health effects. The lack of observed thresholds in the epidemiologic
studies could be reflective of measurement error  or a more realistic assessment of the effect of ozone

                                             B-10

-------
exposure under actual ambient exposure conditions. At the current time, insufficient data is available on
which to differentiate between these two possibilities.

9. Synthesis

72.     Pg9-l, line 17 - change "...pound of body weight..." to "...kilogram of body weight..."
73.     Pg9-l, line 18 - awkwardly phrased; suggest rewording to read ".. .and are in a period of rapid
growth and development, placing their tissues in a state of increased sensitivity."
74.     Pg9-l, line 27: incorrectly phrased, should read "...but which cannot be evaluated..."
75.     Pg9-2, Iine3: change to read ".. .the percent of children with multiple ozone exposures."
76.     It doesn't seem like the following several pages are well-used, if the intent is to "summarize " the
key findings; the bullets seem to go on endlessly... This needs to actually be summarized. This could
probably be more effectively communicated in a summary table,  with carefully-constructed columns and
rows to delineate health status, city, and number or percentage estimates.
77.     Pg9-2, Iine9 and all subsequent bullets where this phrasing is used: change to read, ".. .the
average percentages of school-age children (across 2006 to 2010) estimated to ..."
78.     Pg9-2, line 36: replace "term" with "terms"
79.     Pg9-3, Iine22: "In the worst O3 year" is poorly phrased and should be changed for several
reasons; 1) what does "worst" mean? Highest observed levels? 2) the phrase "worst O3 year" needs to
be anchored to something - in the 2006 to 2010 time period, for example.
80.     Pg9-3, line 27: "In the best O3 year," has the exact opposite issue as item#71 above.
81.     Pg-9-6, line 29 to pg9-7, Iine23 could be summarized more clearly, as suggested immediately
above.
82.     Pg9-9, Iines23 to 26: The logic and reasoning here is not clear - please re-consider the logical
links you think have been made here. Why do the observations that urban  areas do not capture the
highest mortality rates, the oldest populations, or those with the lowest AC prevalence necessarily lead
to conclusions that urban areas are not missing high risk populations with  high ozone concentrations, or
those with greater ozone susceptibility?
83.     Pg9-10,  line 2: Some careful thought needs to be taken here to differentiate short-term from
long-term implications and effects.  The observation that recent ozone concentrations have generally
been declining makes it likely that short-term risks and exposures may be  declining as well, but that is
not  necessarily a certainty. The chapter discussion does note that there has been some variability. In
addition, changes in temporal, spatial, and physical patterns of activity will change the exposure patterns
of certain susceptible sub-groups. These changes could undercut the reductions and create scenarios of
higher exposures and risk, in the face of generally declining ambient concentrations. Longer working
hours under more temperate conditions, or more exercise by asthmatics outdoors because restrictions are
lifted, could create scenarios leading to longer exposures at lower ambient concentrations, and
potentially higher cumulative risks.
84.     Pg9-10,  Iine20: add a hyphen between "epidemiology" and "based"
                                             B-ll

-------
                                      Dr. Michelle Bell


Comments on the Health Risk and Exposure Assessment

Comments on Chapter 5 - Characterization of population exposure

7. To what extend does the Panel fid the methods used to conduct the exposure analysis technically
sound? Does the Panel have any recommendations on the methods used?

Overall, the methods seem appropriate and well described. It would be nice to have a figure showing a
flow chart of the various models, inputs, and outputs for the exposure assessment. In general, the
methods could be described in more detail, with particular attention to various assumptions that are
made. As an example,  the text describes the differences between the transfer factors model and the mass
balance model, but does not sufficiently explain why the mass balance model was used for indoor air, or
note this explicitly (see Table 5-4). Provide detail on what "just meet the current standards" means, as
this concept is critically important to the methods. I suspect that many readers will understand this, but it
would be helpful to be explicit. As another example, there are a few vague terms that could be better
described, such as "ozone season" or "sufficient" air quality data. For instance, for Table 5-3, explain
why the period modeled differs for each urban area and what these time periods are intended to
represent. Do these reflect ozone monitoring seasons, a relationship to temperature, or anticipated ozone
seasons? Provide references for statements on methods and assumptions, such as "The lack of a better
treatment of indoor air chemistry is not considered to be a significant limitation of APEX for modeling
O3." In section  5.4.1, the text nicely describes the underlying premises for each of the three ozone
benchmarks (e.g., 0.070 ppm based on asthmatics' sensitivity); however, references (either to articles or
to other sections) would be useful to  help provide the basis. A key part of the methods that were unclear
to me was the incorporation of averting behavior and exposures. The text describes that certain elements
will be "considered" in future work, but it is not clear how this will be conducted (see text beginning on
page 5-13). Similarly, the general methods described for the elements of uncertainty are not clear (see
page 5-24). An analysis using city-specific values does not necessarily capture the variability. This is
another case where the methods may be perfectly reasonable, but are difficult to understand. In general,
these suggestions relate to better description of the method. Although the methods do appear sound,  they
will be easier to evaluate with more detail.

8. To what extend does the Panel find the assessment, interpretation,  and presentation of the results of
the exposure analysis as presented technically sound, appropriately balanced, and clearly
communicated?

The underlying concepts of the presentation of results work well, and I found the authors' interpretation
of results to be sound.  The presentation of results could be a bit better. There are some minor
improvements that would greatly aid readability. For a table on multiple pages, repeat the row of column
headings. There are too many abbreviations on the figures as they are unnecessary (e.g., spell out cities
in Figures 5-1 to 5-15, do not abbreviate "75 6-8" for 75 ppb 2006-8, year rather than myear in Table 5-
5, more clear column headings such as in Table 5-5). There is plenty  of room to avoid some of these
abbreviations. In cases where abbreviations are necessary, please give their definition (e.g., ME in
Figure 5-19, PREC in Figure 5-21). Consider combining Figures 5-1  to 5-15 into fewer figures (this may

                                             B-12

-------
not work well, but is worth trying). These figures could be bar charts or some other format rather than 3-
dimensional bar charts. Adjust the presentation of percentages to have another significant digit as
currently there are bars of obvious different sizes, but the same percent results (e.g., 0% is at least 3
different heights in Figure 5-6). There is a typo in Table 5-10 (Atlanta is tlanta). There are a few
interesting results in the footnotes that are very informative, and the authors may wish to move this
information to the main text (footnote 9 on page 5-41, footnote 14 on page 5-43). For Figures 5-22 and
5-25,1 think estimates were only generated for specific exposure levels in O.Olppm increments. To help
aid interpretation, avoid a linear fit through the estimates, or add point estimates to emphasize that the
full spectrum of ozone exposure values was not modeled (if this is correct).

9. Regarding the characterization of uncertainties and variability:
a) To what extend does the Panel find that the uncertainties associated with the exposure analysis are
clearly and appropriately characterized?

The document does highlight several key uncertainties and usefully  separates uncertainties and
assumptions for various parts of the exposure assessment process (e.g., APEX, CHAD). EPA should be
commended for the extensive attention that has been paid to uncertainties. It is clear that the authors
have given considerable thought to this issue. It would be useful to have even more discussion of some
of the uncertainties. In particular, differences in housing structures could be discussed in more detail,
such as how housing structures are likely to have regional patterns; therefore the influence on exposure
assessments may also be regional.

b) To what extend does the Panel find that the uncertainty assessment is technically sound? Are there
other important uncertainties which are not covered?

This text gives the impression that the authors have given considerable thought to uncertainties of this
process. There are some uncertainties that will be addressed quantitatively, although many will not. The
text could explicitly note uncertainties that the authors  acknowledge, but for which current scientific
methods do not exist for sensitivity analysis. To the degree possible, the anticipated direction of
uncertainties on results should  be discussed, for uncertainties that are not considered quantitatively (e.g.,
omission of outdoor workers).

10) What are the views of the Panel on the sensitivity analyses that EPA plans to conduct as part of the
second draft REA to evaluate the influence of uncertainties in the exposure analysis?

The methods proposed for sensitivity analysis are not very specific (e.g., use city-specific diaries) and
seem more another way of performing the calculation rather than an actual way of incorporating
uncertainty. In addition to the base method and proposed sensitivity analysis, another approach would be
to generate lower and upper bounds, such as by using the lowest and highest values from any city.

Comments on Chapter 9 - Synthesis

19. To what extend does the Panel find the synthesis to be a useful integration and summarization of key
results and insights regarding the overall health exposure and risk analysis?
                                              B-13

-------
The synthesis is useful and insightful, but could be improved. There are a few places where the key
message is unclear. In particular, the policy relevance of risk estimates for ozone concentrations at 0, a
value that is unfeasible for many regions, needs more justification, even in a synthesis section. In
general, please review the linage to make sure the word choices convey the right meaning. For example,
two studies having 3 of the same 4 cities with the highest impact does not seem a "significant"
difference. Alternatively, if this is what is meant, please clarify. The language that health endpoints
"remain" (see page 9-8, is odd and potentially confusing. Please reword. Rather than bullet points, some
of the key points could be provided in a figure or table. The statement that the urban study areas provide
a good representation of the overall distribution of risk (see page 9-9) is unclear as risks may differ in
rural environment. The other discussion points on the urban focus are clear. It is not clear why some
aspects, such as alternative lag structures and copollutants, could not be incorporated in the analysis (see
page 9-10). I was not sure if the authors mean that this will be done in later versions or if for some
reason such analysis is not possible. As a minor point, I suggest changing the language of "the need to
specify values for U.S. background concentrations is not necessary, as it is incorporated in the modeling
directly" (see page 9-11). While technically true, the background concentrations are in fact specified,
just by model results not the user. Better wording may be that the background concentrations are
modeled and therefore do not need to be selected by the analysis. The text notes that the second draft
RES will incorporate an improved approach to adjust for ozone levels, but the nature of the
improvements are not clear. Perhaps this will become very clear in the next version.
                                              B-14

-------
                                    Dr. Joseph D. Brain


 Comments on the Health Risk and Exposure Assessment

Comments on Chapter 1 - Introduction

1. Does the Panel find the introductory and background material, including that pertaining to
previous reviews of the O3 standards and the current review, to be clearly communicated and
appropriately characterized?

The committee has some concerns about the list of acronyms and abbreviations early in the report. On
the one hand, it's useful to have these abbreviations defined. On the other hand, in some cases the
abbreviations or acronyms needs further explication. For example, yes, EvNA stands for "enhanced
voronoi neighbor averaging," but what does that mean? Similarly, the critically important "policy
relevant background" is given as the definition of PRB. This tells what words correspond to which
letters, but it does not describe how  the PRB is measured and how it might be used in the regulatory
process. As ozone levels diminish, the impact of the PRB looms larger. In these instances and many
others, it would be useful if a link was provided  so that a further definition or the nature of the
methodology used was easily available to the reader. An example of the latter is MATS which means
"model attainment test software." Those four letters are defined, but the reader is still ignorant of what
this software is and what it accomplishes.

Yes, the panel  finds that this first chapter, "Introduction," provides a useful review of the process
leading to the previous  ozone standards. With a few exceptions noted below, the history and relevant
background is "clearly communicated and appropriately characterized." It does raise the issue of
whether there should be a generic introduction/preface/history as we found  extremely useful in the ISA.
There could be some standard boilerplate, although it would clearly be less  extensive and critical than
for the ISA.  Thus, we recommend that there be a generic piece of the REA. Perhaps this is an example
of "no good deed goes unpunished." The ISA example is so effective, it raises the issue of whether it
should be  replicated in both the REA and the policy assessment document.

One question is whether the current  Chapter 9, "Synthesis and Integration of Results," should come
earlier in the document. In the ISA,  this final chapter corresponds to the executive summary and the
integrative summary, which come early in the document. Should this have the same construction?
The history, as given on pages 1-3 through 1-6, is interesting and useful. However, as it reaches its
conclusion on pages 1-5 and 1-6,  conspicuous by its absence is the role of CASAC in terms of
reconsideration. We did have meetings and did offer advice about the reconsideration decision in
response to multiple suits filed against the EPA.  A sentence or so with appropriate links should be
added.

Also conspicuous by its absence is the PRB. I think an understanding of the policy relevant background
is important. It should also appear in telling the history. Where did this concept originate, and when was
it introduced into EPA deliberations. This is another example of an important concept which should be
adequately recognized.
                                             B-15

-------
Comments on Chapter 2 - Conceptual Model

2. To what extent does the Panel find that the discussions accurately reflect and clearly
communicate the currently available health effects evidence, and the relevance of that evidence
for quantitative exposure and risk assessment, as characterized in the 3rd Draft ISA?

Again, I am concerned that the PRB is not adequately defined or discussed. Particularly in sections 2.1
and 2.2, dealing with ozone chemistry  and sources, it seems essential to discuss the PRB. In fact, aren't
there three sources of ozone and precursors? There is domestic versus international, and even within
domestic, there are natural events such as lightening and forest fires, and then sources that are definitely
related to human activity. I suppose one could discuss to what extent forest fires are influenced by
human activity.
Section 2.4, "At-Risk Populations," is  another piece that should be generic and common to all EPA
documents. In conclusion, the panel does find that the discussions in chapter 2 "accurately reflect and
clearly communicate the current available health effects evidence." Moreover, those conclusions flow
rationally from the information contained in the third draft ISA.
Comments on Chapter 3 - Scope

3. Does the Panel find the scope of the health risk and exposure analysis is clearly
communicated?

The panel finds that the scope of the health risk and exposure analysis is appropriate and is presented
with clarity and economy. EPA staff has done an excellent job in laying out the process, the sources of
data, and how various models are used to make predictions.
I draw attention to the absence of discussion of adaptation. One of the hallmarks of oxidant injury,
especially ozone, is the phenomenon of adaptation. There are levels of ozone, or hyperoxia, which
produce serious injury or even death in naive animals. However, in animals chronically exposed to
lower levels of ozone or oxygen, there is morphologic and biochemical adaptation.  Subsequent
exposures to ozone produce a far lower response. This is important in understanding ozone toxicology.
It also relates importantly to different patterns of ozone exposure. Citizens, who rarely see significant
ozone levels and then suddenly have a two to three day episode of high ozone, may be much more
affected than those who enjoy steady state ozone exposures all the time.

4. Based on information in the 3rd draft ISA indicating lack of evidence for a threshold in O3
concentration-response functions, we have included risk estimates down to zero O3
concentrations. Based on further discussion in the ISA regarding the decreased confidence in
the shape and magnitude of population health response at very low O3 concentrations, we have
also included risk estimates based on applying concentration-response (C-R) functions only
down to the lowest measured level (LML) in the underlying epidemiology studies.

a) To what extent does the Panel support the use of two different risk estimates, one applying
the C-R function down to zero, and one applying the C-R function down to the LML, to
characterize the range of risk estimates to balance comprehensiveness of the estimates with
confidence in the estimates?

                                             B-16

-------
The panel believes that the presentation of two different risk estimates will be confusing. We hope that
CASAC and EPA staff can identify the one which is optimal. Personally, I would favor the C-R function
down to the LML.  The C-R function which goes down to zero makes little sense. First of all, such levels
are never obtained, except in unusual chamber situations where ambient ozone is deliberately scrubbed.
Secondly, this zone has little value since it cannot be influenced by the regulatory process.
For an analogous situation, consider ionizing radiation. Can we or should we look at the effects of
radiation at levels below background radiation exposures? Do we know what cancer incidence might be
in the absence of ionizing radiation? What's the point?

b) What are the views of the Panel on alterative cutoffs based on other points within the
distribution ofO3 concentrations used in the underlying epidemiology studies?

As mentioned before, I believe we should present the most rational and  useful cut off. At this point in
the regulatory process, we should have a vision of what levels/cut offs are scientifically sound and
contribute to standard setting in a practical way.
                                             B-17

-------
                                      Dr. David Chock


Comments on the Health Risk and Exposure Assessment

Comments on Chapter 4 - Air Quality Considerations

Charge Question 5: To what extent does the Panel consider the years of air quality data to be
appropriate for use in the exposure and risk assessment?

The EPA chose five most recent consecutive years where air quality data are available at this time —
2006-2010 — for risk and exposure analysis. These five years most definitely encompass a high degree
of variability in meteorology and emissions, and are sufficiently recent to serve as a valid starting point
to preview the near-term future before the next round of CASAC ozone review. This choice, in my
mind, is reasonable. It also involves the least number of assumptions that may be subject to questions or
challenges.

There may be situations where resources may impose a constraint on the number of years available for
more in-depth analysis. In these cases, I would be in favor of selecting the most recent possible years
because they serve as the best initial conditions to look down the road into the near-term future. Cases
with a strong resource demand may include the use of the hierarchical Bayesian model to fuse the
monitor data and the model predictions to establish a time dependent nationwide ozone concentration
field.

Charge Question 6: Regarding the methods for simulating just meeting the ozone standard:
a) To what extent does the Panel find that the quadratic rollback approach used in the first draft REA
for simulating just meeting the current standard (including application of US background as a lower-
bound on rollback) is a reasonable approach?
b) To what extent does the Panel support using an air quality model based approach for simulating just
meeting the standard in future drafts as a replacement for the current quadratic approach?
c) What are the views of the Panel on the strengths and limitations of the proposed approach using the
Higher-order Direct Decoupled Method?

a) The quadratic rollback scheme was devised in the absence of more scientifically rigorous modeling
efforts in the early days of risk and exposure assessments. The steps assumed in moving the ozone
concentration distribution downward toward attainment for a given area cannot be readily verified and
are lacking scientific underpinning. Many of its shortcomings are already described in the HDDM-
rollback attachment. Among other things, I am particularly concerned about the tendency of the rollback
scheme to excessively suppress the ozone concentration distributions for areas that require more drastic
reduction in ozone concentrations to just meet the present standard. This unphysical artifact is a result of
using identical rollback coefficients for all concentrations less than the highest concentration for which
the coefficients are first determined in a given area. The concentration regions that are most noticeably
suppressed are the high concentration regions whose rollback does not trigger the use of the background
floor values. The artifact is quite apparent when we look at Tables 4-1  and 4-2. The two study areas —
Los Angeles and Sacramento — that had the highest design values during 2006-2008 have the highest
percentages of cases where the roll-backed concentrations have to be replaced by some background

                                             B-18

-------
"floor" values. (Note that the background referred to is the U.S. background, not the NA Background.)
Figure 2-4 on p. 2-14 of the Health REA first draft attachment prepared by Wells et al. (2012) shows a
comparison between the 2006-2008 observed ozone concentration distributions and those after quadratic
rollback for Detroit and Los Angeles. Note the excessive suppression of the high concentration region in
the case of Los Angeles compared to the case of Detroit. Obviously, the quadratic rollback scheme will
create biases in its assessment of ozone exposure and the associated health risk. Given that there is now
a more science-based rollback approach, it is time to retire the quadratic rollback scheme.

b) and c) Using an air quality model to simulate the scenario of "just meeting the standard" would be a
valuable  and worthy effort. In fact, the benefit can go far beyond just demonstrating attainment for
certain areas, especially when the model domain actually covers at least the regions where regional
transport of ozone precursors is relevant. Regional-scale modeling can  also help develop cost-effective
emission control strategies that cut across state and local boundaries, resulting in overall cost savings in
the long run. The effort here, however, is more about the applications of the higher-order direct
decoupled method (HDDM) for establishing the ozone concentration distribution of an area when it just
meets the present ozone air quality standard. The approach is scientifically sound and the computation
burden is not excessive, especially for applications to a given urban area.  The attachment prepared by
Simon et al. (2012) describes the rationale and illustrates the application with examples. Use of
multisteps in the case of NOx reduction to achieve the ozone standard is sensible. For the second draft
REA, EPA is developing the 2007 modeling platform using  the 2007 meteorology and a combination of
2007-2008 emissions. The CMAQ version 5.0 may also be used. These are all very encouraging
developments. It would be helpful if CMAQ's background ozone concentration profiles had been
compared well against those of GEOS-Chem and CAMx for the same modeling conditions. There are
two concerns here in the applications of the calculated sensitivities. One is their applications to the
monitored rather than modeled ozone concentrations. The single-step and multistep justification test
cases were done based on modeled concentrations. The resulting justification may not necessarily be
transferable to the monitored ozone concentrations. However, the past practice has been to use the ratio
of observed-to-modeled concentrations as  a relative response factor to scale the modeled concentrations
to observed concentrations.  The second  concern is the choice of emission reductions. Should it be NOx
only, or VOC only, or a combination of both? If the resulting distributions are comparable anyway, it
may not matter much. In that case, it may be economical to choose an emission reduction scheme that
avoids the multistep procedure. In fact, by judicially selecting a set of intermediate-emission scenarios
as a "brute-force" simulation base case, the HDDM may be replaced by the simpler first-order DDM
while retaining the boundary conditions of the "brute force" simulation without incurring significant
errors in  determining the "just meeting the standard" concentration distribution. On the  whole, I support
this rollback methodology as a replacement for the quadratic rollback.

The Chapter also briefly discusses the use  of a hierarchical Bayesian model to fuse the 2006-2008
monitored ozone data with the model (CMAQ)-predicted ozone concentrations to create a spatially-
resolved  and time-dependent ozone concentration field nationwide. This is a highly computation-
intensive but otherwise commendable effort. The relatively high sensitivity of the spatial distribution of
the fused ozone field to the variances assumed in the prior distributions for the measurement errors of
the monitored and model-predicted ozone  concentrations calls for caution in the choice  of these
variances.
                                             B-19

-------
                                    Dr. Ana Diez-Roux


Comments on the Health Risk and Exposure Assessment

Comments on Chapter 5

7.      To what extent does the Panel find the methods used to conduct the exposure analysis
technically sound? Does the Panel have any recommendations on the methods used?

Overall the methods used to conduct the exposure analysis appear sound and seem to make the best use
possible of available data.

A major predictor of exposure levels is time activity patterns. The APEX model utilizes CHAD, the
most complete source of human activity data currently available. Despite the use of this data and new
methods to reflect time-location-activity in simulated individuals, estimates will only be as good as the
time-activity data utilized. Time-activity patterns are likely to vary substantially by region and a range of
social and economic factors. These patterns are also likely to have changed substantially over time.
In this regard it would be helpful if Table 5-1 included some information on how the individuals in the
various studied were sampled and the extent to which the studies included a range of occupations,
regions, and socioeconomic backgrounds.

For example, it may be possible to provide even some basic characterization of the extent to which these
samples are likely to represent the activity patterns of the areas being modeled.

The document could better discuss the implications of using these samples to characterize time activity
patterns. For example, variations in time-activity patterns may lead to very large inter-individual
differences in exposures with very high exposures in some population groups (many of which may be
"vulnerable" groups) which are not captured by the approach used. In addition, these high exposure
groups may also be the ones with less ability to implement exposure averting behaviors in response to
information, as noted in the review provided. If possible, some estimation of "extreme " exposures (or
distribution of exposures) for population subgroups derived from the model (as opposed to global
population metrics) could also be useful in describing the population impact.

8.      To what extent does the Panel find the assessment, interpretation, and presentation of the
results of the exposure analysis as presented technically sound, appropriately balanced, and clearly
communicated?

In the next draft, EPA may consider providing a more complete description of the key exposure levels
predicted by the model for various population subgroups (as tables/figures as well as by summarizing
key patterns in the text). Sometimes the rationale for the selected results presented is unclear.
Key patterns need to be succinctly summarized. For example, it would be helpful  to summarily describe
the key patterns observed in Figures  5-1 to 5-15 and tables 4-5-4-19. The tables in particular are
sometimes difficult to interpret, some column headings are unclear (as are the titles). A figure
presentation might be better. (A relatively minor point is that three-dimensional figures are often
misleading and probably should be avoided).

                                             B-20

-------
As noted above, and to the extent permitted by the simulation model, it would be helpful to illustrate
some of the variability in exposures in addition to overall population averages. For example, it might be
of interest to show the distribution of the population across exposure levels (e.g. distribution of the
population across categories of #of 8 hour exposures across a certain level). [This may be limited by the
United ability of the APEX model to capture repeated exposures, if so this seems like a key limitation].
Some descriptives of continuous exposure metrics (rather than just #of 8 hour exposures above a level)
would also be useful and could perhaps be linked to the health risks assessment which models
continuous exposures.

The section characterizing factors influencing high exposures was generally well presented. However an
important caveat is that these are analyses based on simulated exposures and therefore the factors that
explain variability are the ones that were by design input into the modeling. This makes it difficult to
draw very firm  conclusions about sources of variability across the cities or even across individuals
(especially in light of the fact that the time activity data input into the model may not captures  all
variability between and within cities).

Figure 5-18 needs to be labeled and explained more clearly. I found it cryptic.

Some of the descriptives are also discussed in the conclusion section of the chapter but they seem to
belong earlier in the chapter. The rationale for showing figures 5-22-25 (especially at the very  end of the
chapter is unclear). In general this last section should discuss the key patterns observed in the population
exposures predicted by the simulation model.

9.      Regarding the  characterization of uncertainties and variability:
a.      To what extent does the Panel find that the uncertainties associated with the exposure analysis are
clearly and appropriately characterized?
b.      To what extent does the Panel find that the uncertainty assessment is technically sound?Are there
other important uncertainties which are not covered?

Although I see the distinction between variability and uncertainty that the  document attempts to make, it
is also true that unaccounted for variability leads to uncertainty. In fact several of the sources of
uncertainty would be minimized if additional data on variability (such as variability in time-activity
patterns or microenvironment levels) were available. It may be helpful to recognize this.

10.     What are the views of the Panel on the sensitivity analyses that EPA plans to conduct as part of
the second draft REA to evaluate the influence of uncertainties in the exposure analysis?

The planned sensitivity analyses appear sound  and cover the main points. If at all possible, it would also
be useful to evaluate sensitivity of results to utilizing time-activity data that matches the social  and
economic characteristics of the areas being modeled.
                                              B-21

-------
Comments on Chapter 7 - Characterization of Health Risk Based on Epidemiological Studies

11.    Regarding the epidemiologic studies used in the analysis:
a.      What are the Panel's views on the set of epidemiological studies selected for use in specifying C-
R functions and on the set of C-R functions specified for use in the risk assessment?
b.      To what extent does the Panel find the detailed descriptions of rationales for the selection of the
epidemiological studies and the selection of the set of C-R functions specified using those studies to be
appropriate and complete?

The set of studies selected seems reasonable. The criteria for selecting the studies are clearly described
and also seem reasonable. Consider adding information on confounder adjustment to all the studies
shown in Table 7-4, as well as some brief summary of the strength associations reported in the study
(e.g. RR estimates for most important exposures studied or equivalent).

12.    To what extent does the Panel find that the qualitative discussion of uncertainty and variability
have covered important sources and appropriately characterized the relationship of those sources of
uncertainty and variability to the risk estimates?

The discussion of variability and uncertainty is clear and coherent. Major sources are appropriately
considered. Overall I found this section accurate and balanced.
Table 7-6 provides an excellent summary of the issues.

13.    Regarding the results of the risk analysis:
a.      What are the views of the Panel on the presentation and discussion of risk estimates,
including the key observations presented in section 7.6.2?
b.      What are the views of the Panel on the presentation of the distribution ofOs-related
mortality across daily O 3 levels for each city as  "heat maps"?

Overall the chapter presents very useful information. However I  found some of the results presented
difficult to understand, perhaps in part due to some inconsistencies in the way in which terminology is
used. The terminology used throughout the chapter and in table headings is confusing. Consider using a
consistent terminology throughout the chapter to describe the various metrics being calculated.

Avoid  saying "total incidence" or "total prevalence" or "mortality" when you refer to total number of
incident cases or total number of prevalent cases  or total deaths (pg 7-7 and many of the tables).
Consider using percent attributable  risk (or percent of deaths attributable to...) as opposed to what is
sometimes referred to as "total risk" and percent reduction in risk or percent reduction in absolute
number of cases as opposed to "risk delta" (see page 7-3).

Tables 7-7 to 7-10 appear to show the number of annual deaths attributable to ozone across categories of
daily max ozone level. The same applies to Tables 7-11 to 7-15.  Labeling these tables as "total deaths
attributable to ozone" would help.
                                              B-22

-------
Table 7-16 to 7-18 show percent of total deaths attributable to ozone (percent attributable risk in
epidemiologic terms). Table 7-20 shows percent reduction in mortality associated with gong from
existing conditions to meeting the current standard. Simplifying and clarifying table titles would help
readers follow.

It is not clear what lags were used in estimating these attributable deaths (same day?). The lag structure
used (and the simultaneous consideration of multiple lags) could substantially affect estimates.

The terminological issues described above also apply to tables 7-22 to 7-24. These tables were hard to
understand.

The description of the main findings could be streamlined . For example section 7.5.1 reports on deaths
and % of deaths (as well as morbidity) attributable to ozone generally, and section 7.5.2 reports on
deaths and % of deaths attributable to ozone even if the current standard were met. This basic fact
sometimes gets lost in the details.

As an alternative consider showing total number of deaths attributable to ozone, % of total deaths
attributable to ozone, and percent and absolute reduction in deaths expected if a given standard were
met. This could be shown side by side in table or figure form for the different urban areas as well as for
ALL areas combined, (the same approach could be used for morbidity).

14.     To what extent does the  Panel agree with the characterization of overall confidence, including
the degree to which the conclusions reached regarding overall confidence are supported by available
information?

What is in the document seems  very reasonable for a first draft and will no doubt be elaborated on as
part of the planned sensitivity analyses.

75.     What are the views of the Panel on EPA 's discussion of potential refinements to the REAfor the
second draft, including the plans for quantitative sensitivity analyses, additional refinements to the core
risk estimates, and plans for assessment of long-term mortality and morbidity (i.e., plans to model risk
for mortality and the decision not to model risk for morbidity endpoints, given data limitations)?

Plans for sensitivity analyses and refinements of core risk estimates are appropriate and address key
issues.

Given the very high population impact of possible long term effects of ozone on respiratory morbidity,
and especially given the fact that these outcomes often affect vulnerable groups, I would urge some risk
assessment of these outcomes even if limited compared to the mortality analyses.
                                               B-23

-------
                               Dr. William Michael Foster
Comments on the Health Risk and Exposure Assessment

Comments on Chapter 6 - Characterization of Health Risk Based on Controlled Human Exposure
Studies

1.      To what extent does the Panel find the methods used to conduct the risk analysis to be
technically sound? What are the views of the Panel members on the methods used?

 As stated on pg. 6-5, li 14-17, " the health effect included in this portion of the risk assessment is lung
function decrement (e.g., >  15% reduction in FEVi) is an estimate of the expected number of people
who will experience  that lung function decrement."

I do not have a clear  understanding of the rationale for the selection of the range of decrements in FEVi
that were chosen/evolved (i.e., > 10,  15, and 20%) for comparison. For change in FEVi function for this
portion of the risk assessment, it would be helpful to understand if there is a rationale for the selection of
the hypothetical decrements in FEVi (e.g., what are these decrements considered to represent as a type
of metric for health risk?).

2.      To what extent does the Panel find the focus of the assessment on lung function decrements in the
quantitative risk assessment to be appropriate and informative?

Please see response above to #1.

3.      To what extent does the Panel find the focus of the assessment on lung function decrements in the
quantitative risk assessments to be appropriate and informative.

Please see response above to #1.

4.      What are the  views of the Panel on the treatment of the Panel on the use of the two different
modeling approaches for specifying the exposure response function linking the change in FEVi to ozone
exposure.

 I do not have sufficient expertise to evaluate the essential differences between the 2007 ozone NAAQS
review based upon a Bayesian Markov Chain Monte Carlo approach versus the McDonnell-Stewealrlt-
SmithFEVi model.

However, I do have issues with the intent to add new controlled human exposure study data and
potentially add these data to each of the above identified modeling approaches for the 2n  Draft REA.
The issues I have with respect to adding the identified controlled human exposure studies (Table 6-2, pg.
6-8) are the following:
                                            B-24

-------
a)     "square wave" and "variable" concentration were utilized, and thus given the demonstrated
differences in the respective time course of spriometric responses to sqw vs. var concentration profiles, a
description of how the spriometric data will be collated would be helpful.
b)     Relevance of 6.6 h exposure with participants utilizing unrealistic elevated minute ventilations
during exercising periods of the exposure (50 min/h) as suggested by Schelegle and co-authors (one of
the new data studies) that overall ventilations are > mean ventilations that might be encountered during a
day of heavy severe manual labor and represents the higher end of ventilations that might be
encountered in the normal population for this prolonged period (6.6 h). This description by Schelegle
and co-authors identifies the response data as being perhaps more relevant to occupation workers
exposed to ambient background ozone, and less relevant to general population.
c)     For the Schelegle et al report, for each of the ozone profiles investigated (i.e., 60,  70. 80, and 87
ppb) on average less than half of the subjects completed the full 6.6 h of the exposure period. Some
explanation of this high dropout should be provided and how the time line of spirometric response data
collected during the exposure periods will take this into consideration.
d)     For the Hazucha et al report, the exposure periods for sqw vs. var were of 8 h durations, whereas
the reports by Schelegle et al, and Kim et al, were of 6.6 h durations. It would be helpful to understand
how these differences will be  considered when response data are being analyzed. In addition and due to
study design, the overall minute ventilations during the exercise periods of the exposures varied per hour
between the Hazucha study (30 min/h) vs. the other two studies (50min/h).

5.     What are the views of the Panel on the treatment of the relationship between age anddFEVi in
the McDonnell-Stew art-Smith model.

I am not so certain of what this question is referring to, by "treatment of the relationship" between age.
The age range is considerably narrow, and thus how an understanding of risk for 18-35 yr old, would
translate in a meaningful manner to subjects > 60 yr of age, does not seem evident.

6.     To what extent does the Panel find that the qualitative discussion of uncertainty and variability
has covered important sources of uncertainty and variability and has appropriately characterized the
relationship of those sources of uncertainty and variability to the risk estimates.

This question is outside of my expertise and has less to do with the topic of Controlled Human Exposure
Studies. However under the sub-section of Characterization of Uncertainty (starts on pg. 6-46) the
statement in the section of Exposure History ( pg. 6-50) and contributing to uncertainty: "..approach
used in calculating risk assumes that the ozone-induced response on any given day is independent of
prior day ozone exposure" may require further qualification. A statement on the specific ozone-induced
response (e.g,. are these spirometric changes, or inducements of systemic or pulmonary inflammation,
etc.) needs to be  specified. This  assumption for various host responses to ozone is largely incorrect.

 Perhaps under the topic of key sources of variability with respect to ambient ozone exposure, the
seasonal potential for bio-mass burning to contribute to the background levels of ozone, could be given
some consideration.

                                             B-25

-------
7.      What are the views of the Panel on additional sensitivity analyses or other approaches to
addressing uncertainty and variability.

This question is outside of my expertise and has less to do with the topic of Controlled Human Exposure
Studies.
                                             B-26

-------
                                  Dr. H. Christopher Frey


Comments on the Health Risk and Exposure Assessment

My charge question assignments pertain to Chapters 8 and 9. However, I also offer comments on some
other parts of the document since the scope for the analysis of Chapter 8 is given in Chapter 3, Chapter 8
references extensive material from Chapter 7, and Chapter 9 is a synthesis of the entire document.

Comments on Chapter 3

This chapter is clear that the scope of the risk and exposure assessment includes:

•      estimation of the number of people with exposure above 'benchmark' O3 levels;
•      estimates of the number of exposed people with impaired lung function resulting from O3
exposure,
•      estimates of the potential magnitude of premature mortality 'and/or' selected morbidity health
effects associated with recent ambient O3 levels, ambient O3 levels at the current standard, and ambient
O3 levels associated with possible alternative standards
•      better characterization of sources of variability to be considered when evaluating possible
alternative standards
•      insight regarding distributions of risks and risk reduction
•      'understand' (characterize? Estimate?) the national mortality burden associated with recent
ambient O3 levels, and how the selected urban area estimates compare with national distributions of
mortality risk.

Given the content of Chapter 8, it seems clear that it was not a goal to evaluate the alternatives of just
meeting the current standard or just meeting possible alternative standards as part of the national
mortality risk estimate. The third bullet above (from text on page 3-5, lines 21-24) and the last bullet
(from page 3-6, lines 1-3) are partially contradictory. The text in Chapter 3 should be clarified to point
out that the first 4 to 5 bullets are to be evaluated based on analysis of risk for 12 selected urban areas.
The last bullet is evaluated in a separate national scale analysis, which does not attempt to evaluate just
meeting the current or alternative standards.

Later parts of the report mention that 16 cities will be included for the risk assessment of impaired lung
function, but apparently only 12 cities will be used for the epidemiological-based risk assessments.
Some discussion of the criteria that led to choices of different sets  of cities is needed at an appropriate
location in the document.

The issue of policy relevant background (PRB)  concentration is mentioned on page 3-8. In Chapter 8,
the "lowest measured level" (LML) is used in some risk estimates. The 3rd draft of the Integrated
Science Assessment provides information regarding North American background levels of
approximately 25 to 40 ppb. Clarity is needed regarding whether or how background levels were taken
into account in the epidemiologic-based risk assessments.
                                             B-27

-------
The text on page 3-8 states that background O3 is assessed in the ISA and will be 'considered in the
Policy Assessment.' This text implies but does not really explain that background is not intended to be
considered in the REA (and why) and does not really state as to why background will be considered in
the PA - e.g., even a short statement to the effect that background will be considered in the PA as a
constraint on how low a standard could be set might be useful to the reader. However, is it clear from the
Clean Air Act that background can or should be considered this way?

Why is the focus on mortality? Some reason is given. However, a statement could be made regarding the
infeasibility of conducting a national assessment of morbidity at this time, and what factors limit this
feasibility.

Epidemiological studies have been conducted for endpoints such as school absences, emergency room
visits, hospital admissions, respiratory symptoms, and premature mortality (Page 3-14, lines 19-21). The
risk analysis for the 12 urban areas includes the following selected endpoints (p3-16, lines 4-14):
mortality, hospitalization for chronic obstructive pulmonary disease and pneumonia, additional
hospitalizations in a subset of urban areas, and emergency room visits and respiratory  symptoms in one
or two cities for which data were available. The assessment in Chapter 8  of whether the 12 selected
cities are representative of national distributions of key exposure  factors focuses on mortality, but should
also better take into account representativeness for morbidity end points,  at least in the discussion and
interpretation of information and data provided.

EPA plans to use the WHO framework for addressing variability and uncertainty more fully in the 2n
draft REA. Where quantification is possible, a Tier 2 or Tier 3 approach is strongly preferred.

Page 3-717, lines 23-30: "the risk assessment is implemented using BenMAP..." - does this include
morbidity estimates based on exposure estimates developed using APEX? (more clarity is needed - the
term 'the risk assessment' seems to be all encompassing).

Section 3.2.5 on the national scale mortality risk assessment  should have more discussion on the
following points:

•      Why is the focus only on a short-term mortality, and why are morbidity endpoints not
considered? (please explain)
•      The current version only deals with current air quality levels during 2006-2008, and thus does
not consider levels just meeting the current standard or possible alternative standards - will this be
added? Or why is it not included?
•      Currently, there is no analysis of variability or uncertainty along the WHO guidelines -
presumably, this will be added?

Page 3-21, lines 15-26: with regard to evaluating alternative C-R functions, it is straightforward to do
sensitivity analysis in which each is used separately and then compared. This would be a Tier 2 type of
analysis.

A Type 3 uncertainty can be incorporated in the exposure estimates produced using APEX.
                                             B-28

-------
Use of confidence intervals for effects estimates is mentioned in a footnote. However, this information
should be discussed in the main body, since it is important.
Comments on Chapter 5

I suggest that there should be more overview of CHAD, including a summary of the distribution of the
diaries by age, gender, and other selection criteria (i.e. how many diaries of each type).

Even though APEX inputs describe variability, it should be possible to quantify uncertainty in the
parameters of the variability distributions.

The method for estimating in vehicle exposure should be discussed in more detail.

For clarity, which microenvironments are based on mass balance and which are based on transfer
factors?

Page 5-10: lines 3-7: 'many assumptions are strengthened by the manner in which the data are used' -
does not make sense as written. Not  sure what this is trying to say.

Page 5-13: the analysis of 'averting behavior' also raises the question of what is the purpose of the
NAAQS. Is the purpose to protect at risk subgroups so that they can make use of the outdoors without
significant adverse impact, or is the purpose to take advantage of averting behavior to therefore allow
the standard to be less stringent than it otherwise would have been. That is, should averting behavior be
taken into account, or is it an inherent right of each individual to use the outdoors without having to
engage in such behavior? While certainly it is important to account for averting behavior when
interpreting health effects data or developing risk models, a policy question is whether averting behavior
should be assumed or mandated (probably not) as an alternative to lowering the ambient concentration
on high concentration days.

Page 5-23: although true exposure may be unknown, to say that it is 'largely unknown' is ambiguous
and not helpful. (This phrase appears also in the appendix). While it is certainly the case that the true
value of exposure for an individual or of the distribution of inter-individual variability in exposure is not
known exactly, it can be estimated. The estimation error depends on the level of aggregation of the
estimate over time and space and to what extent sources of variability have been appropriately taken into
account. The list of the most influential elements of uncertainty seems appropriate.
AER sensitivity analysis can also involve a straightforward comparison of how results vary with point
estimates of AER.

Figure 5-1 and similar (through Figure 5-15) should be reconsidered. It is strange to have a vertical axis
that is not defined or shown, and to have vertical bars that have numerical values associated with them
but no  vertical axis. Alternatives to these figures would be to use bar charts with multiple categories for
each city that include the base and alternative case. The nomenclature "75 8-10" is not defined  in the
charts and must e. These charts should be self-explanatory.

The planned analysis of repeated exposures (pages 5-51 and 5-52) will be interesting.

                                             B-29

-------
Comments on Chapter 6

A table, perhaps in the scoping chapter, that lists all of the causality determinations from the ISA, and
also lists which ones are addressed in the REA and how, would be very useful.

Figure 6-1 - what are S, K in the figure? Figures should always be self-explanatory.

Table 6-7: some numbers are given in percent, and others are not. The units for any numbers in a table
should be clearly defined in the table header, and not in footnotes. The labeling in the columns under
each city is not very clear and may need footnotes. E.g., "Current 0.075 ppm, 2006-2010" refers to an
analysis conducted for the current REA based on the current 0.075 ppm standard, based on 2006 to 2010
air quality data. If figures and tables are not very clear, then there is potential for misinterpretation and
confusion. Thus, it is critically important that figures and tables be clearly and completely labeled and
that they are self-documenting.

Figure 6-21: here again, the notation used is not defined in the figure itself- e.g.,, what is "75 6-8", etc.?

Likewise, even FEV1 should be spelled out and defined in a note.
Comments on Chapter 7

Pages 7-2 and 7-3: it would be helpful to the reader if the discussion of LMLs also included discussion
of background concentrations, and the relationship between the two. Would it not be the case that the
LML would be expected to be at or above background levels? Yet, the LMLs used appear to be lower
than the North American background concentrations reported in the ISA.

Page 7-11: please provide equation(s) that show how the LML enters into the analysis, so that it is more
clear as to why LML-based risk estimates are lower. The idea seems to be that the same beta value is
used, even though the increment used is smaller if the LML is included. Is beta independent of the
LML?
Page 7-12 mentions the U.S. background ozone levels. This is another opportunity to compare with
LML (or there could be a section added that compares LML and background).

Does the proposed alternative rollback procedure (Decoupled Direct Method) require positing an
emissions reduction scenario?

Table 7-4, spell out HA for Hospital  Admission... similarly, spell out ED and ER.

Section 7.4: it helps to have tables that summarize and discuss the key sources of variability and
uncertainty (not just in this chapter but throughout the document).

Page 7-36: it is important to do quantitative sensitivity or uncertainty analysis for what are hypothesized
to be the most significant sources of uncertainty. If the purpose  of the analysis is to supplement the point
estimate analysis as a way to help identify and rank sources of uncertainty, then the epistemic status


                                             B-30

-------
threshold need not be so high. The enumeration of sources of uncertainty and justification for the Tier
approach used should be more thorough and clear.

Page 7-47 "heat map" is jargon and not very useful. Either explain the analogy or use another term.
Comments on Chapter 8 - National Scale Risk Assessment and Representativeness Analysis

Charge Question 16.  What are the views of the Panel on the overall approach used for the national
scale risk analysis, including the O3 concentration methods and metrics, the use of city-specific and
national average concentration-response relationships derived by Bell et al. (2004) and Zanobetti and
Schwartz (2008)?

Although there are many detailed comments on Chapter 8, as enumerated below, the general approach
seems reasonable. The chapter should much more carefully and clearly define concepts and quantities, to
more clearly communicate the key input assumptions, results, and findings (details below).

Charge Question 17.  What are the views of the Panel on the approach identified for quantifying long-
term mortality using the Jerrett et al. (2009) two-pollutant model national respiratory mortality effect
estimate?

The brief description of the plan for the 2n REA on page 8-9 seems reasonable. The REA can and
should be more clear as to the relationship between the short- and long-term mortality C-R models that
will be used - i.e. are they mutually exclusive or does one subsume the other?

Charge Question 18.  Regarding the representativeness analysis: a) What are the views of the Panel on
the methods and presentation of results for the representativeness analyses?; b) Does the Panel have
suggestions for additional risk characteristics that would be useful to include in the analysis?

The representativeness analysis seems reasonable in terms of the scope of variables identified, the
analysis of each, and  the conclusions reached.

Detailed Comments on Chapter 8

Chapter 8 describes the national scale risk assessment but does not provide much detail from which the
reader can fully understand how it was done. Furthermore, many of the terms and concepts used are not
clearly defined or used consistently. It would help to develop some shorthand notation for complex
concepts that are repeatedly applied, such as the 4 highest daily maximum 8-hour average
concentration in one year, and the annual 4th highest daily maximum 8-hour average concentration
averaged over 3-years. With a clear definition and a short-hand notation, it will be easier to clearly and
consistently refer to this or other concepts throughout the chapter and the document.

The introduction to this chapter appears to be summarizing results that are given later in the chapter.
This is confusing to the reader. If the goal of the introduction is to be an abstract or executive summary
of the chapter, this should be clearly stated.


                                             B-31

-------
Page 8-1, lines 30-31: the results given here have an unclear interpretation at this stage in the document.
The reader has to carefully go back and forth in the text to try to figure this out, but it appears as if the
numbers given here are the cumulative totals over a three year period, rather than annual averages. For
clarity, state that these are cumulative effect estimates for May through September for the sum of three
years from 2006 to 2008. Alternatively, present the numbers as annual averages rather than three year
totals (which would be more policy relevant). Also, the reader is curious as to what were the mortality
estimates in each of the three years (2006, 2007, and 2008) to gain insight into inter-annual variability in
estimated mortality. Similar comments apply to the summary based on Zanobetti and Schwartz (2008).

Page 8-3, text: please quantify the correlation between these exposure metrics, such as the correlation
between the May to September average 8-hour daily maximum concentration versus the June to August
average 8-hour daily  mean concentration. The correlation of each of these with the annual 4th  highest
maximum daily 8-hour average and with the three year average of the annual 4th highest values would
also be informative. On lines 10-12, the text is confusing because it does not mention that the NAAQS is
based on a 3-year average of annual 4* highest values. Are the 'seasonal means' also on a 3-year
average? This is an example of the need for extreme clarity in this chapter regarding the quantities being
used.

Figure 1.1 (8.1?) is confusing because air quality modeling is shown twice - why?

Figure 1.2 and similar figures: are the estimated concentrations given here based on 12 km by 12 km
grid cells? This should be defined in each figure that shows this type of data, 'fused with average 2006-
2008 observations' - does this mean that the fusion was  done on three year averages, rather than, say, on
individual dates? Not very clear.

Figure 1.4: the top panel should be shown as a bar chart  and not a continuous curve. This  is really  a
histogram, not a probability density function. The vertical axis has units of fraction and not probability
density. The fraction  shown applies only to bins  or ranges of values, which are discrete, not continuous.
The wording of the caption is unclear - what constitutes a 'sample' in these summaries? Is it one
monitor site for one day? One monitor site for an average per year? One monitor averaged over three
years? One grid square? Etc. The basis for these and any other graphs and tables must be  crystal clear.

Page 8-8, lines 1-3: could conduct sensitivity analysis  based on effects estimates for individual cities
with highest or lowest beta values.

Page 8-8, lines 10-11: delete "It should be noted, however,"

Page 8-8, lines 24-26: Delete "In order."  Please compare LML to U.S. background and explain the
comparison.

Page 8-9, lines 24-27: is this in reference to cardiovascular disease? Please clarify.

Page 8-10, lines  1-7:  does this mean that the long-term health effects estimate is assumed to include
short-term effects? This also needs to be  more clear in the Integrated Science Assessment.

Page 8-10, lines 28-34: what percent of the estimated mortality is in other urban areas? Rural  areas?

                                             B-32

-------
Page 8-11, line 1: delete "It is important to note that"

Page 8-11, line 23: Bell et al. (2004) is based on non-accidental mortality, not all cause total mortality.

Page 8-11, paragraph on lines 20-26. As context, what is the national total mortality and national non-
accidental mortality in 2007? i.e. by how much do these base rates differ, on average?

Page 8-12, Table 1.2: 2nd and 3rd column headers should make clear that the numbers given are three
year cumulative estimates, not annual averages. Footnote 2 - could be more clear by adding 'applied to
all 12 km by 12 km grid cells nationally' For clarity, what is the number of grid cells for city-specific
versus national estimates?

Explain why LML is only 7.5  ppb if PRB is 29 ppb  and if U.S. background is typically 25-40 ppb.

Also,  explain and provide insight regarding the magnitude of the percent reduction from no
concentration cut-off.

Page 8-15, Table 1.3. The basis is  not clear and also is not the same for the two sources of risk estimates.
Are both of the sets of results based on Bell  et al. and Zanobetti and  Schwartz on the basis of total
mortality? The Bell et al. (2004) study was based on non-accidental mortality, not total mortality.
Clarify the basis. Also, why are minimum and maximum values given, rather than the bounds of a 95
percent range (i.e. 2.5* and 97.5*  percentiles of U.S. counties). Either in the table caption or footnote
indicate the number of counties.

Page 8-18, lines 10-15: This text should be a new paragraph. There needs to be a transition from the
previous paragraph explaining the purpose of making comparisons to the 4*  highest 8-hr daily
maximum concentration. Furthermore, it needs to be crystal clear as to what exactly is being compared
here. Is this a 4th highest value in just one year? Is it the three year average of the 4th highest values? If
not the latter, then the  subsequent  inferences about the ppb ranges are not based on the form of the
current standard.

Page 8-18, lines 15 -end of page: again, what is the  basis  here? Is this a 3-yr average of 4th highest
values?  Or just the 4* highest value in one year?

Page 8-20, Figure 1.11: similar to  previous comment, what exactly is the basis of the numbers shown on
the y-axis in this figure and in Figure 1.12? Is this just the 4* highest value in one year, or is it the three
year average of 4*  highest values from 2006 to 2008? Likewise, is the x-axis based on May to
September averages for one year only, for each of three years, or is it a three year average?

Page 8-21, middle of paragraph - clarify that these numerical estimates are based on cumulative
mortality over three years.

Page 8-22, line 5 - again, clarify exactly what is the form of this quantity.
                                             B-33

-------
Page 8-22, line 8 - this seems to be a one-year estimate, in contrast to numbers reported elsewhere in
this chapter that appear to be three year estimates. Be clear as to the basis of these numbers.

Page 8-22, middle of page - this is the first time in this chapter that mention is made of the
'concentration cut-off of 29  ppb. What is the basis for 29 ppb, and how does it enter into the analysis
and how does it affect the results reported in Table 1.2. What other results are based on this number?

Page 8-22, end of long paragraph. After reading this paragraph, differences between two estimates are
explained. Presumably, EPA staff deem their own estimates to be more valid or policy-relevant than
those reported by Fann et al., 2012. Some synthesis of information that leads to this conclusion would be
helpful to the reader: i.e. which analysis is better (or more relevant) and why?

Page 8-22, section 8.2: the way that the first few paragraphs are written, it appears as if this section is
regurgitating material in Chapter 7. The tone of the text should be modified to make clear the purpose,
the scope of this section, which aspects of the scope are drawn upon material in Chapter 7,  and which
aspects are in this section.
Page 8-23, middle of last paragraph: some discussion of why better characterization at the high end of
risk is desirable would be... well, desirable.

Page 8-24 "impacted" is not the right word to use here... "affected" or 'influenced' seem more
appropriate.

Page 8-25: end of first paragraph: needs clarification and discussion - i.e. what are the parameters,
which are proxies and how, etc. - or refer to more details given later so reader knows this is coming.

Page 8-25, end of 2n paragraph, cite the figures that include the city-specific mortality risks.

Page 8-30, Table 1.5: the basis of some of the numbers is not clear or could be more clear. For example,
population of what (per county?)? Income - per capita?

Page 8-31: O3 4* highest maximum 8-hr average unit is given as ppb but the numbers in the table
appear to be ppm. Indicate for what time  period are these 4th highest values, and additional  information
on the form - is this the 4th highest value  in just one year, or is it the three year average of annual 4th
highest values?

The text should explain why  the respiratory mortality O3 C-R and cardiovascular mortality O3 C-R
estimates for the urban study areas and U.S. data set are higher than the all cause mortality  C-R
estimates - presumably because these are based on a smaller baseline population.

Page 8-32, and similar figures: the first part of these captions should be changed - "Comparison of
County-Level Populations of Urban Case Study Area Counties to the Frequency Distribution of
Population in 3,143 U.S. Counties" The title over the chart can be deleted. Similar comment for Figures
1.14 through 1.27.

Figure 1.15:  The numbers here appear to  be based on just one  year - this should be clear in the figure
caption.

                                             B-34

-------
Page 8-44: 6 to 2 lines from bottom: this text gives the reader the impression that the urban study areas
should be expanded to include higher mortality rates and older populations. However, on next page, it
becomes more clear that this is not really necessary or useful - the text should be better organized to
raise a point and dispatch it and not leave this kind of lingering doubt. I.e. write a paragraph on the issue
of high baseline mortality that introduces the observation but provides the counter factual information
that leads to the conclusion that the current set of urban areas is sufficient. Then do the same for
population age.

Page 8-49: the first paragraph appears to be a summary and therefore can be deleted. The second
paragraph seems to provide a good discussion.
Comments on Chapter 9 - Synthesis

Charge Question 19. To what extent does the Panel find the synthesis to be a useful integration and
summarization of key results and insights regarding the overall health exposure and risk analysis?

The synthesis is a useful part of the document in that it provides a summary of the key findings from the
several types of risk assessments, including the exposure and controlled human experiment-based
assessment, the short-term epidemiological assessment for individual cities, and the national scale
epidemiologic-based assessment. This is clearly a work in progress. For the next version, please develop
summary reporting tables that contain the key numerical results. The text is a bit tedious to read because
it is essentially writing a table in text format. It would help to clearly organize the text so that the reader
who understands the table can skip the tedious text that describes the table (i.e. have subsections on
"Description of Results") to get to new sections that should be labeled as "Discussion of Results" -
these latter sections should provide interpretation, implications, and integration.

Detailed Comments on Chapter  9:

Page 9-1, lines 2-6. The intro paragraph fails to mention the national scale assessment of Chapter 8 or
the assessment of the representativeness of the selected urban areas, also given in Chapter 8.

Page 9-1, Section 9.1. The elderly  are also considered to be an important at-risk group. Explain why this
group was not the focus of the risk assessment.

Page 9-1, lines 33-34: It is not really the case that APEX lacks 'proficiency' to model repeated
(longitudinal?) exposures, but rather the root cause for this situation is the lack of activity diary data that
would enable such repeated exposures to be quantified. (The same language appears on page 9-11, lines
22-23). Thus, this is really more of a limitation of CHAD and of diaries in general than it is a limitation
of APEX per se. The lack of such longitudinal information and its effect on results  can be explored in
sensitivity analysis in which the same diary is used every  day for a given simulated child and compared
to results in which diaries are sampled at random every day. The bounds of these two analyses would
illustrate to what extent the results might depend on repeated exposures and to what extent the base case
estimates given here might underestimate the number of acute adverse effect outcomes.


                                             B-35

-------
The summaries on Pages 9-2 through 9-5 are reasonably well-written, considering that this is very 'dry'
and repetitive material. As noted above, please also include a summary table. Clearly identify the
portions of the text that are merely describing the results and clearly identify parts that go beyond mere
summaries to more interesting discussions of interpretation, implications, and integration.

For the epidemiologic bases studies, please address the following topics:

•      LML versus North American background
•      Why the LML-based effect estimates are lower than those for which the LML is not considered
(this should be further detailed in Chapters 7 and 8). Is beta independent of LML?
•      For consistency among all endpoints, please report mean values and the probability ranges of the
effect estimates (not just the ranges), and include all of these quantitative results in a summary table.
•      To support the later 'observations' (in section 9.4) that 2007 and 2009 represent worst and best
case years with in the 5 year period,  also include quantitative summary information regarding air quality
in each year from 2006 to 2010 (e.g., averages and ranges for each city for the exposure-based estimates,
and other useful metrics for the epi-based estimates). This would also support observations about year to
year variability in ozone concentrations.
•      The 'observations' should include discussion of what was NOT modeled - i.e. what health effect
outcomes identified in the ISA with  causal or likely to be causal determinations were not modeled.
•      The 'observations' should include limitations of what was modeled - e.g., that the exposure-
response relationships from clinical experiments might not address the most at risk subpopulations or the
most severe  outcomes.
•      What can be said qualitatively about the possible biases in the quantitative risk assessment or
about risks that were not estimated quantitatively?
                                             B-36

-------
                                    Dr. David A. Grantz


Comments on the Welfare Risk and Exposure Assessment

Comments on Chapter 5 - Ecological Effects

7. Regarding the assessment of relative biomass loss (RBL)for individual species:
a)  What are the views of the Panel on the use of the linear model forced through the origin to assess
the proportional relationship between the relative biomass loss (RBL) values for each species
comparing the RBL at recent ambient conditions to the RBL under the scenario modeling O3 just
meeting the current standard?

I think the use of a linear (is it regression or correlation?) analysis is a poor choice because it implies a
relationship that has no real basis. The text suggests several alternative approaches, including a mean
ratio which would be superior. In the end, the only number retained from the linearization approach is
the slope, which is taken as the mean ratio.

b)  To what extent does the Panel find that this an appropriate analysis to compare the proportional
changes in RBL? Does the Panel have suggestions for alternative approaches that provides a
comparable result and maintains the cell-by-cell approach to help control for environmental
variability?

As above, the mean  of within-cell ratios is more straightforward.

c)  To what extent does the panel agree with the approach used to combine the 11 tree species into one
analysis?

For purposes of risk assessment it is essential to aggregate across species and landscapes as done in
this document. The combination in Figure 5-7 appears straightforward and meaningful. The
calculation of the statistics in this figure was not clear in the text, but I am assuming this was the
distribution of ratios from the linearized plots discussed above.

8. Regarding the assessment of RBL for combined species:
a)  To what extent does the Panel support the use of the Importance Values from the U.S. Forest Service
to weight the RBL values in extrapolating from individual trees to larger ecosystem level effects?

I think this is very important, and well realized in the document.

b)  What are the views of the Panel on the use of the summed-RBL as a metric to use for assessing
effects at the larger ecosystem scale?

I see this as a first cut at the problem. There are certainly more precise measures that could be
devised, but current  data limitations restrict their application. At the current time I think this approach
is a good place holder for aggregating these types of impacts, and a potential spur to relevant research.
                                             B-37

-------
c) Does the panel have any recommendations for methods to include a wider range of tree species
(beyondthe 8 species included)?

The limitation to including more species is availability of C-R functions. When existing C-R functions
are extrapolated to novel species, it is important to provide a range of possible sensitivities, rather than
assume the sensitivity of the most sensitive species. This will provide a range of possible impacts, and
is more conservative and more credible when uncertainty is propagated. An exception is if for
taxonomic or biochemical reasons  one can suggest similarity to the C-R relationship with a known
species. The only alternative to the preceding approach is to find existing or create new C-R
relationships with new species.

9. What are the views of the Panel on the use of federally designated Class I and Critical Habitat areas
as endpointsfor this analysis? Does the Panel have any suggestions for additional parks beyond
Rocky Mountain National Park and Sequoia/Kings Canyon National Park that should be analyzed?
Does the panel have recommendations for additional or alternative geographic analysis areas that
could be used?

Class I areas by their definition deserve as much scrutiny as possible. They are very appropriate areas
for analysis (not sure they are "endpoints"). Critical habitats require much more justification and
analysis to justify their inclusion—both as to target species and nature of criticality. This may not be
possible in this document.

The choice of parks seems excellent, but isn't Great Smoky Mtn. NP in the analysis now? Acadia
would be the most likely next one to add.

10. To what  extent does the Panel find that the vegetation mapping data from USGS and NFS used to
generate a scaled-RBL surface in Great Smokey Mountain National Park is appropriate?

Conceptually very appropriate.

11. Regarding the screening level foliar injury risk assessment:
a) To what extent does the Panel find the updated assessment of foliar injury risk in national parks
originally performed in Kohut (2007) to be an appropriate screening level risk assessment?

I think it is limited, but as good as  anything now available. It is  an efficient way to screen a large
number of sites. I think the use of multiple ozone metrics to screen is not useful. For this document I
recommend that EPA make a choice (presumably W126) and stick with it throughout the analysis.

b) What are  the views of the Panel regarding the potential methods for estimating Os
exposure at additional parks?

Use of the highest concentration monitor in a park is not  very desirable. The original kriging method
makes some sense, and the use of the data-model fusion approach suggested here may be better if
validated.  In future, the impacts of elevation and terrain will be  required, and national parks provide a
good set of locations to test new approaches.


                                             B-38

-------
c) What are the Panel's views regarding the appropriateness of requiring that two criteria must be
satisfied (i.e., based on both W126 andNlOO) in order to receive higher risk ratings?

Not appropriate. See above.

d) Is the Panel aware of any assessments of foliar injury in national parks conducted between 2006
and 2010 that could potentially be used to validate the updated risk ratings?

No.

12. Regarding the assessment of cover ofOs sensitive species:
a) To what extent does the Panel find the preliminary analysis of sensitive species
cover to be an appropriate and useful approach to highlight areas of potentially higher risk due to
the presence of sensitive species?
Unclear. Is this Figure 6-8?

b) To what extent does the Panel find the vegetation mapping data appropriate to assess the cover
of Os sensitive species in GSMNP?

c) What are the views of the Panel on the decision to not distinguish between
vegetation strata (i.e. herb,  shrub, tree)? To what extent does the Panel agree with this methodology
relative to analyzing the strata individually?

I think there is a high priority in this document to aggregate results for ease of communication to end
users. Therefore I grudgingly approve of the use of single stratum  analyses, even though they are
clearly and demonstrably wrong. Ozone is depleted vertically through canopies, understory species
are in dim light but improved water status leading to uncertain and site-specific differences in
stomatal conductance to ozone, and the species are different with contrasting leaf morphologies.
There is little reason to believe they will respond  as do overstory trees.
d) What are the views of the panel on using benchmarks, similar to those used in the Kohut analysis of
foliar injury risk, to allow estimates of change between exposure scenarios?

Unclear. Benchmarks or air quality thresholds for injury are a short-hand means of moving types of
vegetation between risk classes. If continuous functions  can be developed this would be superior, but
data may not be sufficient. The specific thresholds (benchmarks) suggested by Bob Kohut may not be
invariant on a national scale, whereas a continuous function might be evaluated locally.

Comments on Chapter 6 - Ecosystem Services

13. To what extent does the Panel find that EPA has adequately characterized the range of
ecosystem services that are potentially adversely affected by O3 ?

I think this is a pretty good job and consistent with previous analyses.

14. To what extent does the Panel agree with EPA 's ecosystem services framework, connecting O3
exposure, through ecological effects to ecosystem services?

                                              B-39

-------
The framework is conceptually fine. I found the presentation of Chapter 5 and Chapter 6 to be
confusing and somewhat tedious to read. Is it possible to combine, so that the thread between exposure-
effects-services is accomplished all at once for each combination of factors?

75. Does the panel agree with EPA 's use of combined O3 exposure data with other data sources (e.g.
fire data,  bark beetle maps, trail maps) to link areas of concern or interest with areas of higher
vegetative risk due to O3? Does the Panel have any recommendations for additional datasets and
ecosystem services that could add to or improve these analyses?

I think incorporating anything linked to ozone is appropriate. I disagree with the conclusion that
bark beetle damage (monetized) cannot be disaggregated into an ozone-induced component. It may
not be quantitative at this point, but it would be a useful placeholder for further analysis. It is not
accurate to state that because total damage is included in the bark beetle estimate, that this precludes
teasing out the ozone-induced component.

16. Regarding the analysis of forest yield impacts:

a)     To what extent does the Panel agree that the Forest and Agricultural Sector Optimization Model
(FASOM) model is appropriate to assess timber and crop yield changes and the effects of those changes
on additional ecosystem services?

b)     What are the views of the Panel on the extrapolation of concentration-response functions
across similar species?

See comments above. I think as much generalization as possible is useful, but with uncertainties
propagated through the analysis. Use of similarities among species to assign highest likelihood
sensitivities could be useful.

[The appendix detailing the FASOM analysis will be submitted for review in August]

17. Regarding the analysis of urban forest impacts:
a) To what extent does the Panel feel that the i-Tree model is appropriate for assessing changes to
urban forest ecosystem services based on O3 exposure?
b) In order to increase the number of tree species covered by the iTree  model, does the Panel have
recommendations for additional species that could be included,  based on estimates from  similar
species?

[The appendix detailing the i-Tree analysis will be submitted for review in August]

18. Regarding the use ofPnET-CN:
a) What are the views of the Panel on the potential use of the PnET-CN model in the
2nd draft to assess impacts on larger scale ecosystem services (e.g. hydrologic changes, c
sequestration)?
b) Does the Panel have recommendations of other models that are accessible to EPA
that could be used instead of PnET-CN?


                                             B-40

-------
19. Regarding ecosystem services related to foliar injury:
a) To what extent does the Panel agree that potential visible foliar injury is appropriate to use as a
metric to assess potential loss of cultural services associated with recreation in national parks?

The types of canopy death attributed to ozone-enhanced bark beetle infestation are clear aesthetic
degradations noticeable to visitors. I think visible ozone injury is also negative but perhaps not so much
so. It is however, a reasonable endpoint for quantifying loss of cultural services. It has been used for a
long time as a surrogate for many ozone impacts, even though the quantitative correlations are known
to be only moderate.

b) Does the Panel feel that there are O3 benchmarks that could be used to assess changes in foliar
injury potential between exposure scenarios similar to those used by Kohut (2007)?
See above.

Comments on Chapter 7 - Synthesis

20. To what extent does the Panel find the synthesis to be a useful integration and summarization of
key results and insights regarding the over all welfare exposure and risk analysis?
The synthesis was mercifully brief and to the point. I thought it provided a clear wrap-up for the reader.
I would have liked some numbers to appear, in effect highlighting the few quantitative results that were
obtained in the document.
                                             B-41

-------
                                     Dr. Jack Harkema


Comments on the Health Risk and Exposure Assessment

Comments on Chapter 6

Question 1

The methods used to conduct the risk analysis are technically sound. However, in light of the recent
papers by McDonnell et al. and Schelele et al., Inhal Toxicol 2012; 24:619-633 and 24:401-415,
respectively, controlled human exposure/response data should also be fit to a third model that contains a
threshold below which no response occurs using a statistical program for fitting nonlinear mixed models
(i.e., threshold model). McDonnell et al. reported that this new threshold model is likely to provide more
accurate estimates of risk in future risk assessments of ozone-induced FEV1 effects.

Question 2

The outline of this chapter appears appropriate. The approach used is clearly and concised presented and
adequately defended by the authors. The data used in the previous review and the current review are
clearly presented in the tables. As suggested above, the threshold model should be compared with the
other two models in the second draft.

Question 3

The assessment on lung function (FEV1) decrements in the quantitative risk assessment appears to this
panelist to still be the most appropropriate and informative single parameter for estimating overall health
risk to ozone exposure.

Question 4

See responses to questions 1 and 2. The model that best fits the data, particularly at  low levels of
exposure, should be identified by the authors' in the second draft.

Question 5

The authors' defense of the application of E-R function for all lifestages  on 6-49-50 appears justified
based on the scientific literature to date.

Question 6

The qualitative discussion of uncertainty and variability is very important. The authors' have identified
the major areas of uncertainty. The strengths and limitations of the each of the human exposure-response
models could be summarized both in the text and in a table for better clarification for those who are not
experts in this area.
                                             B-42

-------
Question 7

Others more familiar with this field may have some suggestions on additional sensitive analyses or other
approaches to addressing uncertainty and variability.
                                              B-43

-------
                                     Dr. Daniel Jacob


Comments on the Health Risk and Exposure Assessment

Comments on Chapter 4 - Air Quality Considerations

5. To what extent does the Panel consider the years of air quality data to be appropriate for use in the
exposure and risk assessment?

The 5-year period seems very reasonable.

1. 4-5, lines 15-17: I don't understand the logic  for excluding exceptional events. From a health
perspective it doesn't matter if an event is "exceptional"  or not.

2. 4-6, lines 10-11: What is the rationale for spatial averaging? Some monitors in the urban area are
likely more representative of population exposure than others.

3. 4-8, lines 1-13: the use of GEOS-Chem background-to-base ratios to derive background from
observations is a little strange, as it assumes that this ratio is the most robust result from the GEOS-
Chem simulation. I see no basis for this assumption, as errors on the background and errors on the US
pollution enhancement are likely not correlated. It may lead to odd results for any sites where the model
makes large errors on the US pollution enhancement. I would have suggested just taking the background
values from GEOS-Chem since the ISA finds them to be overall unbiased. However, it may not make
much difference in practice.

4. 4-13:1 understand that section 4.3.2 shows national distributions of ozone as may be used to diagnose
the effect of minimum emission reductions to meet the NAAQS. But then I'm puzzled about the Figures
shown, which are seasonal averages of no direct relevance to the NAAQS. Wouldn't it be better to show
the design values (4th highest annual MDA8)? It would seem much more relevant.

5. 4-14:  I'm concerned about the fused data map shown in Figure 4-6 and how much it differs from
Figure 4-7 (which seems more reasonable). Figure 4-6 doesn't show any evident enhancements in urban
areas (why?) and seems to overestimate background in high-elevation regions. It would be useful to
document here the relative weight of observations and CMAQ in this fusion. It would also be useful to
show the difference between the fused data and the actual observations, either as a map or (maybe
better) as statistics for selected sites both remote and urban. Some explanation for why Figure 4-7 is so
different from 4-6 would also be helpful.

6. Regarding the methods for simulating just meeting the ozone standard:

a) To what extent does the Panel find that the quadratic rollback approach used in the first
draft REA for simulating just meeting the current standard (including application of US
background as a lower-bound on rollback) is a  reasonable approach?
                                            B-44

-------
It has the advantage of simplicity and transparency, and of being based on observations, but it involves
simplifying assumptions that may be hard to defend and that could produce some odd results.

b) To what extent does the Panel support using an air quality model based approach for
simulating just meeting the standard in future drafts as a replacement for the current
quadratic approach?

I think that would be a better approach because that is in practice how SIPs are developed to meet an AQ
objective. However, there are different combinations of emission reduction strategies possible to achieve
just meeting the ozone standard and these may have different impacts on overall ozone distributions. So
one would need a protocol for choosing one in particular.

c) What are the views of the Panel on the strengths and limitations of the proposed
approach using the Higher-order Direct Decoupled Method?

HDDM would have the advantage of providing a protocol for the minimum emission reductions needed
to achieve just meeting the ozone standard. The sensitivities would have to be expressed in terms of
emissions from particular sectors so that the effects of these emission reductions on ozone can be
propagated to the whole domain. The HDDM sensitivities should be applied to the observed
concentrations (not the model fields). I think that this is the best approach available to EPA.
Comments on the Welfare Risk and Exposure Assessment

Comments on Chapter 4 - Air Quality Considerations

4. To what extent does the Panel consider the years of air quality data to be appropriate for use in the
exposure and risk assessment?

I think that the use of 2006-2010 is appropriate.

1.     4-4, line 1:1 don't understand the logic for excluding exceptional events. They would have a
welfare impact, even if they can't be controlled.  The 2008 California wildfires (which accounted for all
the exclusions  according to the text) seem like an odd exclusion since Singh et al. (Atmos. Environ.
2010) showed that these fires didn't make significant ozone unless mixed with urban plumes.
2.     4-4, line 1: Figure 4-3 shows a W126 hotspot from the wildfires in central Idaho. Why weren't
they removed as exceptional events, like the California wildfires? That seems inconsistent but I think I
know why - that's because there were no observations to exclude! The W126 hotspot in central Idaho is
in my opinion a model artifact and I elaborate on that below.

5. What are the views of the Panel on the approach used to develop a national scale surface of
W126?

1.     I would like some more information on the data fusion approach, because some aspects of the
results seem weird (see my comments to charge  question 5 on the REA Health Draft 1). I think that it
would be important to show comparisons of W126 in the fused data and in the actual observations for
                                             B-45

-------
 specific sites, and I would recommend using the CASTNet sites for that since they are so relevant to the
 secondary standard.
 2.     In particular, I'm surprised that Figure 4-3 shows such high W126 values over the intermountain
 west. This must largely reflect CMAQ information since there aren't many monitors there. However, I
 have some doubts as to the quality of the CMAQ simulation in that region. For example, the W126
 hotspot in central Idaho is due to wildfires, but that just reflects the simulation of large ozone production
 from wildfires in CMAQ. There is evidence from the literature that models overestimate ozone
 production from wildfires (Singh et al., Atmos. Environ.  2010; Alvarado et al., JGR 2010). My own
 work analyzing the CASTNet observations shows no ozone enhancements from wildfires. For example,
 I see no ozone enhancements at Glacier National Park from the fires in central Idaho. I'm ready to
 acknowledge the controversy over ozone production from wildfires,  but that would translate into large
 uncertainty in the national scale surface of W126.
 3.     Following on the above point, I think that there is enough uncertainty in CMAQ simulations of
 background ozone that using CMAQ to extrapolate ozone data to the national scale may be
 inappropriate for a W126-based standard. This can be assessed by comparing W126 in the fused data to
 observations at the CASTNet sites, as per above comment.

 6. Regarding the methods for simulating just meeting the ozone standard:

 a) To what extent does the Panel find that the quadratic rollback approach used in the
first draft REAfor simulating just meeting the current standard is a reasonable
 approach?

 1.     If the quadratic rollback approach is used then it should be implemented in the same way as for
 the Health REA. Right now it doesn't seem to be, notably in the correction for background. Background
 correction is probably more important for the welfare assessment than for the health assessment.
 2.     The quadratic rollback approach seems to do weird things. For example, it decreases the W126
 in central Idaho even though the high W126 there is  from wildfires that are not evidently controllable.

 b) Does the Panel have suggestions for alternative approaches for simulating just
 meeting the  current secondary standard or alternative standards based on the W126
 metric?

 1.     The HDDM was proposed  as a better alternative to the rollback method for the Health REA, and
 I endorsed this in my response to the charge questions for that REA. I think it would be a better
 alternative for the Welfare REA as well, and would address for example the above-mentioned weird
 result of the rollback method in central Idaho. See my responses to the charge questions on chapter  4 of
 the Health REA  for further comments on application of the HDDM.
                                             B-46

-------
                                  Dr. Steven Kleeberger


 Comments on the Health Risk and Exposure Assessment

Comments on Chapter 6 - Characterization of Health Risk Based on Controlled Human Exposure
Studies.

1.  To what extent does the Panel find the methods used to conduct the risk analysis to be technically
sound? What are the views of the Panel members on the methods used?

Two models were used in the analyses. The first method was also used in the previous review to provide
population level estimates of percent and number of people at risk. The second analysis is an apparently
improved model to estimate FEV1 responses in individuals with short-term exposures. The rationale to
use both methods appears appropriate, and differences and similarities between the analyses provided by
both approaches are discussed.

2.  To what extent does the Panel find the assessment, interpretation, and presentation of the results for
the risk analysis as presented in Chapter 6 to be technically sound, appropriately balanced, and clear
communicated?

Results of the risk analyses are largely sound, balanced, and clearly communicated. The authors indicate
where deficiencies occur, and in some instance indicate that additional analyses will be done for the next
REA. Some other comments are as follow:

a.  Table 6-1. The  cause for considering as outliers the data with double asterisks in the  last line of the
table was not clear. They do not seem to be different from 30/12 or 30/13. Perhaps some clarification
would help.

b.  Table 6-4. The  data presented in the table were,  at first read, somewhat confusing. I now understand
what  the numbers represent, but percentages of percentages were not intuitive. Perhaps a different
representation could be used?

c. Page 6-47, lines 15 and 17.1 believe the reference to Figure 6-7  should be Figure 6-8.

d.  Some of the figures do not have adequately labeled X and Y axes (e.g. 6-5, 6-6, 6-7), and they should
be added.

e. Page 6-45, line 28. Do the authors mean "inter-individual" instead of "mire-individual"?

f  Page 6-49, line 1. Authors  suggest that  lung function response appears to level after 6  hours of
exposure,  and that it is unlikely that longer  exposures (8 hr) would change  exposure-response
relationship. However, if one looks at the figures  in the Schelegle paper, one could argue in fact the
responses are still increasing and they come down only when the individuals discontinue exposure.
                                            B-47

-------
g. Page 6-49, line 29. I believe the authors refer to Figure 6-7, not 6-4. Also, instead of "which might
indicate" I would rephrase the sentence to hypothesize that responsiveness in the age range of children
would continue to increase.

h. Page 6-51. The Graham, 2012 citation is not listed in the references (section 6.5).

3. To what extent does the Panel find the focus of the assessment on lung function decrements in the
quantitative risk assessment to be appropriate and informative?

I believe the focus on lung function decrements is the appropriate endpoint for the assessments because
this  endpoint is the most reported measure  across many studies. It may not be the most important
response to ozone (e.g. inflammation may be equally or more important), but it is the response that is
easiest to measure. It may be useful to include a statement at the end of section 6.1.1 that the multiple
phenotypes elicited by ozone exposure likely  have different mechanistic  underpinnings and do not
necessarily correlate or cosegregate.  Therefore,  risk assessments  may be different depending on which
phenotype  is used in the assessment.

4. What are the views of the Panel on the use of the two different modeling approaches for specifying the
exposure-response function linking the change in FEV1 to ozone exposure?

I think the use of two very  different modeling approaches is important, and the authors adequately
justified both for their assessments.

5. What are the views of the Panel on the treatment of the relationship between age and dFEVl in the
McDonnell-Stewart-Smith model?

As indicated by the authors the risk estimates are considerably higher using the M-S-S model compared
to the other model, and perhaps to be expected since the models use different approaches. However, it is
important  to understand why the differences exist,  and the authors indicate that they  will present
analyses of the difference in the next draft REA.

6. To what extent does the Panel find that the qualitative discussion of uncertainty and variability has
covered important  sources  of uncertainty and variability and has appropriately characterized the
relationship of those sources of uncertainty and variability to the risk estimates?

I think the authors offered a very reasonable discussion of the sources of uncertainty and variability. I
noted some comments about this discussion in my response to question 2.

7. What are the views of the Panel on additional sensitivity analyses or other approaches to addressing
uncertainty and variability?

While this is not my area of expertise, I  am not certain that additional sensitivity analyses would be
particularly useful.
                                              B-48

-------
                                  Dr. Frederick J. Miller


Comments on the Health Risk and Exposure Assessment

Comments on Chapter 1 - Introduction

1. Does the Panel find the introductory and background material, including that pertaining to previous
reviews of the Os standards and the current review, to be clearly communicated and appropriately
characterized?

While the introductory chapter usually communicates clearly the information relevant to the previous
and current 63 reviews, there are some sentences that are misleading or inaccurate. For example, on
page 1-5 line 17, the document sates that the proposed range considered for the primary standard was
0.070 to 0.075 ppm. This was clearly not the range proposed by CASAC. The current text implies
that this was the case and does not clarify the range until line 2 of page 1-6. In addition, the statement
on page 1-6 is not correct as to ".. .The Administrator explained in part that CASAC appeared to
place greater weight on the results of the risk assessment as a basis for its recommended range, while
he more heavily weighed the implications of the uncertainties associated with the exposure and risk
assessments." The range proposed by CASAC was the result of the scientific evidence concerning the
nature and severity of effects reported for 63 at levels below the current standard, which at that time
was 0.08 ppm, and  was not heavily influenced by the exposure and risk estimate analyses.

There is no mention in Chapter 1 of any consideration of the secondary standard other than to state
that it is the same as the primary standard.  To appropriately characterize the previous discussions on
the secondary standard, the authors should have noted that a different form of the 63 standard was
proposed by CASAC, but the Administrator chose to ignore CASAC's recommendation and set the
secondary standard equal to the primary standard.

Comments on Chapter 2 - Conceptual Model

2. To what extent does the Panel find that the discussions accurately reflect and clearly communicate the
currently available health effects evidence, and the relevance of that evidence for quantitative exposure
and risk assessment, as characterized in the 3r  Draft ISA ?

This chapter does an excellent job of presenting information on  the sources of O3, the various
microenvironments to consider for exposure, identifying the at-risk populations,  and discussing which
health endpoints are most suitable for inclusion in a risk assessment. There are a couple of minor points
that should be clarified

On page 2-7 line 14, the authors talk about appropriate concentration-response functions in the case of
epidemiological studies and exposure-response functions for controlled human exposure studies. To this
reviewer, they are both  exposure response  studies, and, if anything, the epidemiology studies could be
called exposure-response and the controlled human studies concentration-response. The authors need to
make clear how they are establishing a distinction in terminology for epidemiology studies versus
controlled human studies. To this reviewer, the terms defined in Zartarian et al. (J. Exposure Analysis &
                                             B-49

-------
Environ. Epi. 15:1-5, 2005) do not imply a clear distinction for when exposure-response is appropriate
to use instead of concentration-response. Since the intermingling of the two terms is used throughout
the Health REA, the Agency needs to better define the meaning and applicability of the two terms.
Also, on beginning on Iinel9 on page 2-7, the authors talk about at-risk populations and contend that
controlled human exposure studies are in fact clearly biased away from highly susceptible individuals.
While in general this is the case, controlled human studies have been done on at-risk populations such
as asthmatics and individuals with COPD. The text here should be reworded to better convey that at-
risk subjects are sometimes studied but this is not the norm.

Figure 2-1 is confusing because of the placement of the terms "short term" and "long term" exposures.
This reviewer suggests adding brackets in front of the listing  of the health endpoints or some other way
to convey that the top part of the figure relates to short-term exposures and the bottom portion relates to
long-term exposures.

Comments on Chapter 3 - Scope

3. Does the Panel find the scope of the health risk and exposure analysis is clearly
communicated?

This chapter does an excellent job of laying out the scope of the health risk and exposure analysis together
with all  of the options, caveats, and considerations that are presented in the 1st draft compared to what will
be done in the 2n draft. This reviewer has only a few points that need changing or clarifying.

On line 10 of page 3-8, the authors state that CAS AC recommended that EPA move away from using
PRB in  calculating risk. The CASAC stated in 2007 "Finally, with respect to policy-relevant background
(PRB), the Ozone Panel wishes to point out that the Final Ozone Staff Paper does not provide a
sufficient base of evidence from the peer-reviewed literature to suggest that the current approach to
determining a PRB is the  best method to make this estimation. One reason is that part of the PRB is not
controllable by EPA. It would require international cooperation beyond the bounds of North America. A
better scientific understanding of the PRB and its relationship to intercontinental transport of air
pollutants could serve as the basis for a more concerted effort to control its growth and preserve the
gains in air quality achieved by control efforts within the U.S. In any case, there is no apparent need to
define PRB in the context of establishing a health-based (primary) ozone NAAQS.  The effects of
inhaled  ozone on decreases in respiratory function have been seen in healthy children exposed to ozone
within ambient air mixtures in summer camps (1-6). Furthermore, the concentration- response functions
above 40 ppb are either linear, or indistinguishable from linear. Thus, PRB is irrelevant to the discussion
of where along the concentration-response function a NAAQS with an 8-hour averaging time that
provides enhanced public health protection should be." In the view of this reviewer, this statement was
made at that time because there did not appear to be an ability to identify a threshold for pulmonary
function effects due to Os exposure. Such may not be the case now.

On line 8 of page 3-13, the > 24  should be > 15 to be consistent with what is stated on line 19. In
addition, some places the  authors use > and in others >, so there is also  a need for consistency in this
usage. On line 10 of page 3-23, the authors state that the use of both estimating risk down to zero and to
the LML provide a reasonable bound on estimated total risk.  It would be worth rewording this sentence


                                             B-50

-------
to note that estimating risks down to zero 63 exposure mathematically provides a "greatest upper
bound" on total risk

4. Based on information in the 3r  draft ISA indicating lack of evidence for a threshold in Os
concentration-response functions, we have included risk estimates down to zero Os concentrations.
Based on further discussion in the ISA regarding the decreased confidence in the shape and magnitude of
population health response at very low Os concentrations, we have also included risk estimates based on
applying concentration-response (C-R) functions only down to the lowest measured level (LML) in the
underlying epidemiology studies.

a) To what extent does the Panel support the use of two different risk estimates, one applying the C-R
function down to zero, and one applying the C-R function down to the LML, to characterize the range of
risk estimates to balance comprehensiveness of the estimates with confidence in the estimates?

Given the background levels of Os that cannot be controlled by U.S. regulatory actions, this reviewer
endorses applying the C-R function down to the LML and does not support obtaining risk estimates down
to zero. However, surrogate estimates of the LMLs should only be used if EPA cannot obtain the actual
LMLs associated with the studies underlying the C-R functions. Moreover, the recent paper by
McDonnell et al. (2012) clearly establishes the statistical significance of a threshold model for Os FEVi
responses compared to a non-threshold model. While developed using data from practically all of the
chamber clinical studies that have been conducted, the model would also be directly applicable to
functional changes seen  in future epidemiology studies that measure such changes or in putting some of
the children's camp study results into perspective.

Just because the epidemiology studies are not able to define a threshold for Os effects for the mortality,
hospital admissions, and other effects does not mean that a "biologically effective threshold" does  not
exist. This issue becomes a statistical one that epidemiology studies have a difficult time trying to
establish. However, most biomedical scientists would argue that there is a threshold.

b) What are the views of the Panel on alterative cutoffs based on other points within the distribution ofOs
concentrations used in the underlying epidemiology studies?

There is a high probability that the LMLs will often be lower than the NA policy relevant background
(PRB) levels  estimated from the CEOS-Chem/CAMs model. Since a national map of the NA levels are
available as model outputs, this reviewer would like to see risk estimates for exposures above the NA PRB
levels incorporated into the city-specific risk characterization analyses for the various health endpoints the
Agency is intending to conduct.

Comments on Chapter 6 - Characterization of Health Risks Based on Clinical Studies

General Comments

Chapter 6 is well written and reasonably easy for the reader to follow. Use of the McDonnell et al.
(2010) model is appropriate in addition to using the current probabilistic method. The McDonnell model
for individual response functions is more likely to capture what is really going on in the population.
Importantly, the Agency is aware of the recently available online paper by McDonnell et al. (2012) that

                                              B-51

-------
clearly established there is a threshold for FEVi changes in adult humans exposed to 63. At the earliest
time point with low exposure levels, the McDonnell et al. (2012) threshold model tended to fit the data
better than the non-threshold model. Moreover, using the AIC values in Table 2 of their paper, the non-
threshold model is 0.00002754 times more probable (i.e., only 1 chance in 36,311) as the threshold
model to minimize the information loss.

Staff indicated that they plan to use the more recent McDonnell et al. (2012) threshold model. However,
for some of the analyses they want to conduct, one investigator is hampering their efforts because they
are reluctant to allow the Agency to use their data. Such obstructionism serves no useful purpose.

Specific Comments
Page, line
6-5,8
Fig. 6-1 to 6-3
6-10, 9
6-10, 19
6-11, 13
6-13,7
6-15,9
Fig. 6-8 to
Fig. 6-19
Table 6-9
6-46, 18
Comment
The reference is to Figure 6-1 not Figure 3-1.
While the text identifies what the letters in these figures mean, the figure legends
should also define them because the figures should be able to "stand alone".
The "x" in the numerator and denominator of the equation needs to be a substantially
larger font.
To this reviewer, the 50/50 probabilities scenario is not needed. Given that one is
toward the lower end of the population response curve, an equal splitting of the two
response probability models is extremely unlikely to occur. McDonnell et al. make
this observation even more defensible in light of their 2012 paper where they have
extended their model to incorporate a threshold.
The authors state that they selected the last 1000 parameter values from the linear
model simulations to combine with the last 9000 sets of values for the logistic model.
Why not select the 1000 sets of values randomly from all of the linear model runs? Is
there any reason to believe that the process of sampling from the parameter
distribution may yield a trend in the outcomes if the last 1000 iteration values are
selected?
On this line, Equation 6-1 should be "Equation 6-3".
Additional equations or definitions of variables may be needed here because yp, U;,
and Sijk do not appear in Equation 6-6 but are defined in the listing after the equation.
To this reviewer, it would be easier for the reader to follow the expected lung function
responses in the various cities if the information in the current figures were rearranged
in a series of 3 figures for each city followed by a set of 3 figures for the next city and
so on. For a given city, the first figure would show the results for School-aged
Children, Asthmatic Children, and All people for a FEVi Decrement > 10 % followed
by the same set of panels for > 15 % and then for > 20 %. Then move on to the data
for the next city.
This reviewer does not understand how the ratios for the MSS to E-R models were
obtained. They certainly are not direct ratios of the % responses listed in the rows of
the table (the first entry is a ratio of 3.3 but 15%/5 % = 3. So the authors need to
describe at least in the text exactly how the ratios are derived.
The authors state 3 topic areas for which they intend to perform additional analyses
for the 2nd draft REA and compare results to those obtained earlier. The first area
involves updating the E-R functions with new clinical study data and compare the
                                             B-52

-------
                prior function and risk results. This seems unnecessary - the expanded database is
                more reflective of the true situation and is bound to give different results. So why
                waste resources on comparing the findings to earlier results. The 2nd area listed
                involves determining the relative importance of low-dose extrapolation by looking at
                the number and percentage of people experiencing adverse responses to low 63
                exposures compared to the total response for all exposures. If the Agency uses the
                recent McDonnell et al. threshold model, such an exercise is unnecessary. And the 3
                area of investigation concerning age-related response dependencies will be easy to do
                using the McDonnell et al. (2012) model.	
                                                                            rd
 6-50, 9
This paragraph on subjects in clinical studies having possibly expressed either an
enhanced or an attenuated response based on prior exposure is misleading. The true
responses for a single day of exposure to 63 in the real world are always at least as
great as what was measured on any given day in the controlled chamber study. We
know that repeated daily exposures result in a lessening of the magnitude of FEV1
response. Thus, only "truly naive" exposure subjects can respond maximally to an O
exposure.
 6-51,25
This reviewer is highly skeptical of using the CHAD database for children's activity
patterns. Unless very recent activity data have been added to this database, the activity
patterns in CHAD are not very representative of those for the children of today. The
paper by Brochu et al.  (Human & Ecological Risk Assessment 12:736-761, 2006)
may be useful for comparing the percentiles of daily minute ventilation arising from
the probabilistic sampling of CHAD to recent data on physiologic daily inhalation
rates in a study that included children and that used double labeling water
measurements to compare time-activity-ventilation  and metabolic energy conversion
estimates. This article does not currently appear in Chapter 4 of the ISA and would
need to be added to that chapter if the HREA authors determine that the Brochu et al.
(2006) study would be useful for their analyses.	
 6-51,27
The Graham (2012) citation is not in the Chapter 6 reference list.
Comments on Chapter 7 - Characterization of Health Risks Based on Epidemiological Studies

General Comments

This reviewer has 3 major concerns about the analyses in Chapter 7 and the proposed path forward for
the 2n  draft. The first concern relates to the consistent use of the LMLs from epidemiology studies or
surrogate values for the LMLs. Almost all of the LML values in Table 7-5 are below the PRB levels
discussed in the ISA even though it is recognized that these values are not reflective of the overall air
quality distribution. To this reviewer, little is gained by presenting percentage reductions in risk
associated with LMLs. Moreover, the prioritization discussions at the September 11-13, 2012 CASAC
Os Panel meeting reflected this view by giving a low priority ranking for the Agency's assignment of
time and resources for activities related to the 2nd draft of the HREA.

My 2nd concern relates to the rollback procedure for simulating just meeting the current standard and its
implications for risks above PRB levels. The Higher-Order Decoupled Direct Method (DDM)
capabilities in the Community Multi-Scale Air Quality model are proposed for use in the 2n  draft REA.
                                             B-53

-------
While using this approach eliminates the need to specify values for U. S. background values because
they are incorporated directly in the modeling, it was not clear to this reviewer prior to the September
11-13 meeting whether the Agency could present risk results for values above these levels in addition to
or instead of the no cut-off or the LML cut-off. The ability to do so was made clear at the meeting.
Moreover, the advantages of using the DDM method in the risk analyses for alternative levels of the
standard was endorsed by CAS AC as being superior to the use of the quadratic rollback method.

The 3r major concern relates to the need for the Agency to prioritize the various analyses and additional
topics that are being proposed for inclusion the 2nd draft of the HREA. In the opinion of this reviewer,
the  Agency has neither the resources nor the time to explore adequately all of the areas mentioned in the
chapter. During the September 11-13, 2012 meeting,  staff prepared a list of activities being considered
for the 2n  draft HREA  encompassing all of the chapters. This reviewer is in agreement with the priority
ranking feedback that the Panel provided the Agency.
Whenever there is a series of tables showing the results for different urban areas, it would make sense to
move all of them to an appendix and just present in the main body the results for one area. However, that
area's results should still appear in the appendix as well. This would allow the reader to more easily
follow the development of the issues that the Agency is addressing in this chapter.

Specific Comments
Page, Line
7-37, 35
Table 7-6
7-46,31
Table 7-7, 7-8
7-47, 12
7-67, 27
Comment
The use of regionally specific rather than national level effect estimates is clearly a
step in the right direction. Thus, the recommendation by Smith et al. (2009) is a good
one and should be pursued in the 2nd draft.
The Agency cannot possible examine all of the cases listed in this table. EPA needs
to identify a few of the uncertainty questions that are the most important ones to
address? Some of the uncertainty questions would appear to be better handled by
simulation analyses where the true distribution can be specified and sampling errors
are imparted to examine the impact on model estimates.
The authors state that the health effects of interested are listed at the beginning of this
section, but Section 5 begins at the top of the page and does not list the health effects.
The heat maps are useful, but they are also confusing. The recent conditions data in
Table 7-7 sometimes have lower mortality values that those in the "meeting the
current standard" in Table 7-8. This gives the reader the impression that deaths are
now occurring more frequently at lower 63 levels. A more detailed explanation of
how to interpret the heat maps is needed. It would also be worth noting that the
differences in mortality numbers in the "Delta" column come from a subtraction of
the values in Table 7-8 from Table 7-7 and are the result of rounding of the numbers
in the separate tables.
How is the Agency going to show risk via percentage reduction in mortality above
the Policy Relevant Background levels?
Why does the writing here come across as the authors being surprised by the finding
that the sum of cardiovascular and respiratory does not equal total mortality for most
of the urban areas? There is more to total mortality than just these two aspects. What
am I missing here?
                                             B-54

-------
7-68, 18
7-72, 32
7-74, 26
7-75, 1-8
Section 7.7.1
7-77, 40
7-81, 5
The authors state that the (Vattributable hospital admissions for asthma vary
depending upon whether PM2.5 is included in the model. To this reviewer, no results
should be presented that have not taken into account PM2.5 at a minimum. Even
though most studies show that Oi is still significant even when PM is included in the
model, I seem to recall that the magnitudes of the 63 risk estimates are reduced.
Obtaining the actual LMLs associated with the underlying C-R functions must be
given a high priority for the 2n draft HREA if staff get to this lower ranked activity.
The accuracy of any analyses will be greatly reduced using the actual LMLs, and
thus the variability in the estimates greatly increased, if surrogate values have to be
used.
The findings described in this bullet provide a clear reason why the current
standard is not adequately protective of public health.
Here, the authors convey that the incidence data is reflective of a certain number of
events, with examples being listed of 20,000 to 29,000 vents for chest tightness or
shortness of breath and 55,000 events for asthma exacerbation. The authors might
consider conveying these finding also by assuming a number of days such as 120 as
reflective of an Oj, season and then reporting the number of extra events per day. This
might better help convey the shear magnitude of the extra burden on the health care
system. However, if the recommendation of the Os Panel to model the entire year is
followed, then the length of the 63 season becomes moot.
A number of sensitivity analyses that may be looked at in the 2n draft HREA
are discussed in this section. Unless the Agency knows that they have the
resources to address all of the items being considered, a prioritization of the
types of analyses should be done. This reviewer would prioritize short-term
exposure related mortality followed by short-term exposure -related morbidity
and lastly by interpolation of missing air quality data.
Generating CIs for the delta risk estimates would be extremely useful and needs to be
done.
This reviewer agrees that there currently are too many limitations for attempting to
generate risk estimates for long-term exposure-related respiratory morbidity.
Comments on Chapter 8 - National-Scale Risk Assessment and Representativeness Analysis

General Comments

While the material is generally well written, the chapter would benefit from redrawing some of the
figures, cross-referencing the text to specific figures, and correctly numbering the figures and tables as
8.x with x taking on values  1, 2, 3, etc. Also, there is duplication of the major findings that could be
eliminated. For example, on page 8-1, two paragraphs are devoted to presenting the results of the pre-
mature Os-related deaths, and then these same results are described again in Section 8.1.3.

No treatment of PRBs is again a concern to this reviewer because LMLs and down to zero  exposure do
not tell the whole story for the regulatory issues associated with this NAAQS pollutant. The percentage
reduction in risk associated  with different choices for alternative levels of the standard is useful
information and background levels influence such calculations.
                                             B-55

-------
Specific Comments
Page
Table 1.2
Figure 1.9
8-23 last If
8-25
Table 1.4
8-38
8-39
8-45
8-45
Comment
This table could easily be eliminated. Most of the aspects of the table are already
stated in the text, and the ones that are not currently in the text could easily be added.
This figure should be redrawn using for the no cutoff findings the solid blue line for
Bell et al. (2004) and the solid red line for Zanobetti and Schwartz (2008). Then the
dashed colored lines could be used to present the 7.5 ppb cutoff results. Currently,
the figure is somewhat confusing.
In this paragraph, the authors state that they find that the urban study did not capture
areas with the highest baseline, those with the oldest populations, and those with the
lowest prevalence of air conditioning, but there is no support given or a link to the
subsequent section of the chapter where the definitive analysis is presented. These
kinds of statements made without adequate support or referencing leave the reader
puzzled.
No adequate explanation is given for why the authors deleted the two highest cities
found by Bell et al. (2004). An explanation needs to be provided.
The source of data for the population/square mile is given in the table. Is the value
for this variable calculated using "as the crow flies" data or from topographical
maps?
Appendix 4-A is referenced here but where is it? Here also is a good example of
where statements are made without linking them to the figures that support the
statements. If Figure 1.21 was inserted in parentheses in the sentence stating the
urban areas do not capture the higher end of the risks for 65-year olds, the reader
would not be left wondering how the authors arrived at this conclusion.
The reader has to take "on faith" all of the conclusions stated on this page. Are the
supporting data in an appendix?
This reviewer would not call 0.08 ppm a low ozone level. Also, the authors may be
overstating their case in the 2nd paragraph on this page.
Given the number of problems with using the ATUS data, the effort to be made in
the 2n draft on the use of these data should be given a low priority for resource
allocation.
                                        B-56

-------
                                   Dr. Howard Neufeld


Comments on the Welfare Risk and Exposure Assessment

Comments on Chapter 4 - Air Quality Considerations

4. To what extent does the Panel consider the years of air quality data to be appropriate for use in the
exposure and risk assessment?

4-4, line 15 - not sure that "photochemically" is the appropriate word to use here.

Line 25 - you need to define "TV"

 4-5, lines 9-10: I think there is a mistake in the equation here, unless you defining N100 differently
from how I have in the past. Should N100 be for hours > or just >? With respect to the SUM06, isn't this
definition an AOT06? Traditional SUM06 accumulate all hours > 60 ppb, but don't subtract 60.

Figures throughout chapter, and all subsequent chapters: all of the figures showing kriged ozone
surfaces, and also those showing biomass losses (any figure with a scale) are lacking units. All such
figures should have units explicitly shown either on the figure itself or in the legend.

5. What are the views of the Panel on the approach used to develop a national scale surface of
W126?

I agree with the methodologies used in this chapter.

6. Regarding the methods for simulating just meeting the ozone standard:
a) To what extent does the Panel find that the quadratic rollback approach used in the first draft REA for
simulating just meeting the current standard is a reasonable approach?

Based on the explanations in the chapter, I think this is a most reasonable approach to use.

b) Does the Panel have suggestions for alternative approaches for simulating just meeting the current
secondary standard or alternative standards based on the W126 metric?

No.
Comments on Chapter 5 - Ecological Effects

7. Regarding the assessment of relative biomass loss (RBL)for individual species:
a) What are the views of the Panel on the use of the linear model forced through the origin to assess the
proportional relationship between the relative biomass loss (RBL) values for each species comparing the
RBL at recent ambient conditions to the RBL under the scenario modeling O3 just meeting the current
standard?

                                             B-57

-------
There are times when forcing a regression through the origin makes sense, especially when you have a
situation where a value of zero for the independent variable mandates a zero value for the dependent
variable such as crop yield vs acreage - you can't have any yield if there is no land. However, such
regressions do  not yield interpretable r2 values, although one author (Eisenhauer 2003) suggests several
alternative substitutions to get around this. The more important issue to address is whether or not RBL is
linear all the way to the origin, or if it increases non-linearly near the origin, and then becomes linear the
further away it is. If so, then perhaps a non-linear approach is called for. Citation: Eisenhauer, J.G.
2003. Regression through the Origin. Teaching Statistics 25: 76-80.

It is my understanding that the RBL is based on biomass losses relative to an ozone exposure of zero.
Since there are no areas where background ozone is this low for extended periods of time, is this the
relevant baseline on which to base the RBL? What about selecting a robust estimate of background from
which to deduce RBL?
b) To what extent does the Panel find that this an appropriate analysis to compare the proportional
changes in RBL? Does the Panel have suggestions for alternative approaches that provides a
comparable result and maintains the cell-by-cell approach to help control for environmental variability?

I found the approach used for determining RBL to be logical and pragmatic, given the databases they
had to work with. However, there is no citation of this paper: Matyssek, R., H. Sandermann, G.
Wieser, F. Booker, S. Cieslik, R. Musselman and D. Ernst. 2008. The challenge of making ozone
risk assessment for forest trees more mechanistic. Environmental Pollution 156:567-582.  The
authors make an important distinction when doing modeling which is that one must distinguish between
uptake (flux density) and sensitivity per unit uptake. Thus, two trees could take up equivalent amounts
of ozone, but  differ in sensitivity, due to a variety of internal mechanisms, so it is the combination of
these two parameters that ultimately determine the risk to trees from ozone.

Furthermore,  the modeling does not seem to take into account the range of genetic variation within a
species. Perhaps some probabilistic approach could be taken to account for this through the use of some
weighting factor, so that when the RBL is scaled up to the landscape, it is modified somewhat by this
accounting.
Also, was there any discussion of the quality of the data used to construct the C-R curves? For example,
I thought sugar maple was highly insensitive to ozone. The studies by Topa seemed to indicate that
biomass losses occurred primarily at 3X ambient exposures. In her 2001 article in Plant, Cell and
Environment, she states that there was no statistical difference in dry weight of seedlings in the 1 .OX and
1.7X ambient treatments. This does not suggest a very sensitive species to ozone, yet it seems highly
sensitive in the REA analysis. Why is this? How confident are we that the data used really do give us
realistic RBLs? I was not sure of the citations or databases used to develop the 11 tree RBL curves - can
that be provided?

c) To what extent does the panel agree with the approach used to combine the 11 tree species into one
analysis?

                                            B-58

-------
I think combining the analyses of all 11 trees into one analysis obscures individual tree responses, and
puts too much weight on extremely insensitive species. If the goal is to protect the most sensitive, this
would tend to bias against that. Nonetheless, it is informative to see the range of responses among these
species and the box diagram does a good job expressing that variation to the reader.

8. Regarding the assessment ofRBLfor combined species:
a) To what extent does the Panel support the use of the Importance Values from the U.S. Forest Service
to weight the RBL values in extrapolating from individual trees to larger ecosystem level effects?

I think this is critical to the analysis. It's important to first get the individual tree responses, and then to
expand up the organizational scale to account for the abundances of each of these species in the forest
(but see above discussion 7.b about genetic variation). This helps adjust the impact analysis to account
for the situation where you might have a very sensitive tree species to ozone, but which is a minor
component of the forest. From a RBL standpoint, this is the way to proceed. From a purely biodiversity
point of view, this would de-emphasize such species, so one would have to make some provision for
rare species that might be in danger of being extirpated, either directly from exposure to ozone, or
indirectly through competitive interactions under ozone stress.

b) What are the views of the Panel on the use of the summed-RBL as a metric to use for assessing effects
at the larger ecosystem scale?

As noted above, I think this is an appropriate metric to use. However,  it does not seem to take into
account competitive interactions (e.g., ZELIG model), so the question does arise as to what might be the
magnitude of difference in the metrics when competition is not accounted for.

c) Does the panel have any recommendations for methods to include a wider range of tree species
(beyondthe 8 species included)?

I currently have unpublished data on several more tree species from the NPS-EPA funded OTC study
done in Great Smoky Mountains National  Park. The only way I know to include those response
functions would be to have them peer-reviewed in some way, even if not in a formal journal publication.
I am currently trying to complete these analyses with a statistician from the EPA. Other than this, I don't
know of any other data that might be used. What about earlier data using OTCs? Are there any that
might be included?

9. What are the views of the Panel on the use of federally designated Class I and Critical Habitat areas
as endpointsfor this analysis? Does the Panel have  any suggestions for additional parks beyond Rocky
Mountain National Park and Sequoia/Kings Canyon National Park that should be analyzed?  Does the
panel have recommendations for additional or alternative geographic analysis areas that could be used?

Given that Class I areas are designated not to have significant declines in air quality, using them as
endpoints seems quite reasonable, even if they constitute a small fraction of the  landscape. It's a little
greater stretch to justify using all critical habitats since some of these are not terrestrial habitats, and the
linkages between the aquatic and terrestrial habitats  are either unknown or difficult to quantify.


                                             B-59

-------
It might make sense to include Great Smoky, Shenandoah or Arcadia National Parks so that Parks in the
east are included. And the western portion of Pennsylvania and eastern portions of Ohio seem hotspots
that could use additional scrutiny. Western Pennsylvania contains the largest and most productive black
cherry sites, and this species is one of the most sensitive species to ozone that we know of. It would
seem reasonable to concentrate on forests where this species makes up a substantial proportion of the
individuals, and where it is also under the greatest stress from ozone.

10. To what extent does the Panel find that the vegetation mapping data from USGS and NFS used to
generate a scaled-RBL surface in Great Smokey Mountain National Park is appropriate?

The vegetation mapping is sufficient, but the ozone data seem overly coarse. In addition, these analyses
don't seem to take into account the fact that ozone exposures increase substantially with elevation,  and
that the form of the exposure also changes (flat profiles at high elevations, exposing plants to ozone
early in the morning when their stomata have a greater chance of being open).

11. Regarding the screening level foliar injury risk assessment:
a) To what extent does the Panel find the updated assessment of foliar injury risk in national parks
originally performed in Kohut (2007) to be an appropriate screening level risk assessment?

I think the Kohut assessments are an efficient way to screen national parks for potential impacts on
plants due to ozone. I think the updated analysis used by EPA, which did not differ that much from
Kohut's earlier  analysis, but which did account for the recent declining trends in ozone, is highly
appropriate. It is very interesting to note that no Park showed an increase in sensitivity to ozone with this
analysis, while several moved to a lower sensitivity due to declining ozone exposures in recent years.

b) What are the views of the Panel regarding the potential methods for estimating Os
exposure at additional parks?

I am not clear what these other potential methods are. If Parks don't have their own monitoring data,
then some sort of kriging methodology using data from nearby monitors would be suitable I think. Using
POMs data seems a reasonable thing to do also.
c) What are the Panel's views regarding the appropriateness of requiring that two criteria must be
satisfied (i.e., based on both W126 andNlOO) in order to receive higher risk ratings?

I think this somewhat conflicts with previous analyses that emphasize the cumulative nature of plant
responses to ozone. The REA and PA both go to great lengths to justify using cumulative exposure
indices, such as the W126, whereas here, a Park is moved down an entire sensitivity category based
solely on whether or not the N100 index is exceeded (since both indices need to be exceeded, as I
understand this). It is entirely possible to have a Park at high risk due to chronic, moderate ozone (say
between 60 and 99 ppb), which could cause significant biological impacts, yet never exceed the N100.1
would  suggest that if the W126 is exceeded in all three years, even when the N100 is not, that the Park
be classified as at high risk for adverse effects. I'm not as sure what to do if the converse is true, but I'm
guessing that when the N100 is exceeded, so is the W126.


                                             B-60

-------
Given the inverse relationship that sometimes exists between soil moisture and ozone exposure, it is
entirely possible that a plant could be at higher risk with slightly lower ozone (or years without peaks >
100 ppb) than in years with high ozone and where there are peaks > 100 ppb. Perhaps a three
dimensional space needs to be developed, with soil moisture, W126 and N100 as parameters and
specific volumes within that space designated as High, Moderate and Low risk.

d) Is the Panel aware of any assessments of foliar injury in national parks conducted between 2006 and
2010 that could potentially be used to validate the updated risk ratings?

I would ask that the EPA  incorporate the findings of Gretchen Smith's recent paper which summarizes
the past 16 years of biomonitoring in the Forest Health Monitoring Program. While these analyses were
not always done in  national  parks, the conclusions might be  useful  for interpreting foliar injury
assessments, especially her insights regarding the relationship between wet and dry years and incidence
of visible foliar injury. Here is that citation: Smith, G. 2012. Ambient ozone injury to forest plants in
Northeast and  North Central USA:  16  years  of biomonitoring.  Environmental Monitoring and
Assessment 184:4049-4065.

12. Regarding the assessment of cover ofOs sensitive species:
a) To what extent does the  Panel find the preliminary analysis of sensitive species
cover to be an appropriate and useful approach to highlight areas of potentially higher risk due to the
presence of sensitive species?

These analyses are not yet done, so I cannot comment on them at this point in time.

b) To what extent does the  Panel find the vegetation mapping data appropriate to assess the cover ofOs
sensitive species in GSMNP?

I'd like to hear more from  the people who developed this map to hear exactly what it means in terms of
assessing sensitivity to ozone. One thing that concerns me is that herbaceous species, which are often in
the forest understory, are exposed to significantly reduced amounts of ozone compared to foliage out in
the open or at the top of the canopy. Thus, one should consider modifying exposure of these plants,
perhaps in  several ways, such as including one factor to account for lower light (and hence lower
stomatal conductances perhaps) and lower ozone (see Neufeld et al. 1992 which shows that ozone at 1 m
in dense, cove forests in the Smokies can be as much as 50% less than that above the canopy). Perhaps
herbs and shrubs can have a dummy variable that indicates whether they are beneath a forest canopy or
not, and which would then act as a surrogate for reduced exposure.

c) What are the views of the Panel on the decision to not distinguish between
vegetation strata (i.e. herb, shrub, tree)? To what extent does the Panel agree with this methodology
relative to analyzing the strata individually?

See comment in  section b above.

d) What are the views of the panel on using benchmarks, similar to those used in the Kohut analysis of
foliar injury risk, to allow estimates of change between exposure scenarios?


                                             B-61

-------
I am assuming that "benchmarks" means "thresholds". Given the coarseness of the analysis, I think
benchmarks provide a good estimate of the risk to an area from ozone. Anything more detailed might be
over-analyzed with the result that there is no more confidence in those conclusions than those from a
benchmark analysis.
Comments on Chapter 6 - Ecosystem Services

13.  To what extent does the Panel find that EPA has adequately characterized the range of ecosystem
services that are potentially adversely affected by O3?

It is my feeling that the EPA has appropriately characterized the range of ecosystem services. Instead of
re-inventing the wheel they are using the Millennium Ecosystem Assessment of 2009, which more than
adequately summarizes the services that ecosystems provide.
14.  To what extent does the Panel agree with EPA 's ecosystem services framework, connecting O3
exposure, through ecological effects to ecosystem services?

Yes, I agree with the framework and have no substantive recommendations for change.

75.  Does the panel agree with EPA 's use of combined O3 exposure data with other data sources (e.g. fire
data, bark beetle maps, trail maps) to link areas of concern or interest with areas of higher vegetative
risk due to  O3? Does the Panel have any  recommendations for additional datasets and ecosystem
services that could add to or improve these analyses?

Yes, these are important linkages. Some are tenuous at best, but in the interests of covering all possible
linkages, should be included here. The only addition I would consider is some new data that show beetle
infested pine forests produce more VOCs than healthy forests, and may actually contribute to additional
ozone formation as a result - sort of a vicious feedforward loop. A similar situation has been postulated
for  areas infested with Kudzu.

16.  Regarding the analysis of forest yield impacts:

a) To what extent does the Panel agree that the Forest and Agricultural Sector Optimization Model
(FASOM) model is appropriate to assess timber and crop yield changes and the effects of those changes
on additional ecosystem services?

I have to admit not having much expertise with FASOM, so I don't feel qualified to comment on the
appropriateness of its use. The write up in this section seemed to make sense to  me though.

b) What are the views of the Panel on the extrapolation of concentration-response functions across
similar species?

I think it is highly speculative to consider that similar species will  necessarily react in the same manner
to ozone. Consider black cherry and pin cherry, two closely related species: black cherry is considered
one of the  most sensitive to ozone, while pin cherry is perhaps more tolerant. However, given that
researchers cannot develop ozone response functions for every single species, extrapolation is probably

                                             B-62

-------
the best we can do at this point in time. Grouping species by certain functionalities, such as early
successional vs late, or by those species that are determinate vs indeterminate, may help: e.g., early
successional species tend to respond more than late successional species on average, and perhaps those
with indeterminate growth can compensate through an ozone season for decreased leaf function whereas
determinate ones cannot.

17. Regarding the analysis of urban forest impacts:
a) To what extent does the Panel feel that the i-Tree model is appropriate for assessing changes to urban
forest ecosystem services based on O3 exposure?

Correct me if I am wrong, but wasn't this model developed using mostly southern tree species. Has it
been re-parameterized for additional tree species? If so, I would not have a problem. If not, perhaps that
should be done.

b) In order to increase the  number of tree species covered by the iTree model, does the Panel have
recommendations for additional species that could be included, based on estimates from similar species?

I do not have any suggestions for additional species at this time.

18. Regarding the use ofPnET-CN:
a) What are the views of the Panel on the potential use of the PnET-CN model in the
2nd draft to assess impacts on larger scale ecosystem services (e.g. hydrologic changes, c
sequestration)?

My only question is whether PnET-CN is parameterized well enough to use in forests that differ greatly
in structure, species composition, and climate from the ones it was first developed for: i.e., Harvard
Forest and Hubbard Brook. Has it been validated in any other forests aside from these two?

My other concern is whether this model accounts for within canopy variation in ozone deposition and
structure? That is, does it have any  sort of weighting factors for leaves at different depths in the canopy,
or is it a "big-leaf type of model?

b) Does the Panel have recommendations of other models that are accessible  to EPA
that could be used instead of PnET-CN?

The only other one that seems to be getting a lot of publicity lately is DLEM, and the REA noted that it
was not practical to use this one.  Is there a particular reason or set of reasons why DLEM cannot be
used?

19. Regarding ecosystem services related to foliar injury:
a) To what extent does the Panel agree that potential visible foliar injury is appropriate to use as a
metric to assess potential loss of cultural services associated with recreation in national parks?

I don't think there is as clear a relationship between foliar injury and loss of cultural services as implied
in the REA. My experience is that most people would not recognize foliar ozone injury unless it was
pointed out to them. Further, if there is foliar stipple on large trees,  most of those leaves are out of sight

                                             B-63

-------
of the general public, and hence, not a concern. Are there any studies that demonstrate that people "see"
foliar injury, and more importantly, that they "recognize" it to be caused by ozone. And further, do they
consider it, once pointed out, a noticeable detriment to their experience in the Park? Without those
studies, I am not confident that foliar injury is a really good metric for assessing cultural impacts.

b) Does the Panel feel that there are O3 benchmarks that could be used to assess changes in foliar injury
potential between exposure scenarios similar to those used by Kohut (2007)?

I don't believe I have enough expertise to answer this particular question at this time.
Comments on Chapter 7 - Synthesis

20. To what extent does the Panel find the synthesis to be a useful integration and summarization of key
results and insights regarding the over all welfare exposure and risk analysis?

Generally, the synthesis is well done. On page 2 though, there is a bullet explaining the biomass losses
in Great Smoky Mountains National Park (GRSM), which implies that the magnitude of response is
quite large for a given reduction in ambient ozone, yet in the earlier chapter where the Kohut
assessments are discussed, there is explicit mention of how GRSM ranks in the low risk category. How
do we reconcile these two disparate ratings?
                                             B-64

-------
                              Dr. Armistead (Ted) Russell


Comments on the Health Risk and Exposure Assessment

Executive and Integrative Summary: I hope both are coming.


Comments on Chapter 1

The Minor issues:

1-6,130: Remove "any"


Comments on Chapter 2

Overall, the chapter adequately conveys the first parts of the conceptual framework for conducting a risk
and exposure assessment for ozone, but not the latter parts, which is what most of the REA actually is
about. The chapter needs to lay out the conceptual steps in an exposure and risk assessment, identifying
the important elements and types of methods/tools that are used.

The Minor issues:

2-1,16: Add carbon monoxide: "...and carbon monoxide (CO) ...

2-1,121,22 (and elsewhere): Use chemical subscripts correctly

2-1,125 Use of "valleys" here can be misleading (some will think topographically). Change to ... local
decreases where ozone..."

L27: ..., and the NO2 formed can lead to Os formation..." (also remove a period at the end)

L29: Likewise, don't use "valleys" in this context.

2-2,116 replace relatively insensitive with less sensitive., and "both" with "either"

2-2 126 add "VOCs, as well as CO, are.

2-3,128: Do you mean intrusions?

2-4,131 ... predicted Air Quality Index...
2-5 "communicate information on the levels of O3 and other pollutants. The predicted AQI... a set of
potential actions..."

2-10 Remove a period.

                                            B-65

-------
Comments on Chapter 4

1.      Question 6abc. First, it would be good to show the rollback method mathematically, though if it
is not going to be used in the second draft REA, this is not as big of a deal. As pointed out, the use of the
quadratic rollback method, as formulated, does not include the potential for lower ozone levels to
increase as higher levels come down, though the ISA suggests this can be the case. Thus, I definitely
applaud going to an air quality-based approach, or some other approach, that can capture this. My
thoughts on using HDDM are likely known. Like using  any air quality model-based approach, the
results will then depend upon the choice of simulated controls, and the REA should be more explicit as
to how this will be chosen though it would appear that the difference is only a few ppb between VOC
and NOx in Detroit). One might recommend examining a few directions. This should be discussed more
here. I liked the analysis done by Simon et al., (2012), though the figures (e.g., 8,9) and tables (e.g.,  1)
should be more explicit as to what emissions are being changed.

4-8 117: This paragraph should refer the reader to Table 4-2.

4-8, footnote 8: Again, how often did this occur?

4-23,11-4. This sentence seems to  say you have evaluated methods by using HDDM.  Do you mean this,
or that you have evaluated using an HDDM-based approach? If it is the former, then some more
information would be valuable as to the result of that evaluation.

Table 4-3: Curious, where was the average MDA 19.7 ppb It would be good to identify  each city
associated with the four extreme values given.
Comments on Chapter 8

The chapter is informative, and lays out the approach used for conducting the national scale risk
assessment for premature mortality (note: the chapter title might be changed to include "for premature
mortality"). The approach is to be comprehensive, using both short term and long term effect estimates,
and it also analyzes the distribution of where the more detailed urban case studies fall within the national
distribution, showing that those cities (actually counties) capture the range of ozone levels and
population demographics well.
While the chapter is generally understandable, there are areas where clarity can be improved. The
Introduction does not set up the whole chapter as well as it should. For example, it does not discuss the
use of the Jerrett et al., effect estimates. The Introduction also does not discuss the results of the
assessment of the county distribution (though it does discuss the results of the risk assessment using the
short-term risk estimates.

This chapter should also start out with the results from the ISA stating that there is likely to be a causal
relationship between short term exposures to ozone and all-cause mortality and that evidence is
suggestive of a causal relationship between long-term ozone exposures and total mortality,  i.e., re-
emphasize why this is being done and also highlight the strength of the findings from the ISA.  This
should also be captured in a chapter summary (which should be added).
                                             B-66

-------
While the LML is 7.5 ppb, it is not apparent to me that this should necessarily be the highest level used
for a cutoff in a sensitivity analysis of assessing risk associated with ozone exposure (though it certainly
can be used as one of the levels used).

I am not sure there is great benefit to doing an extensive analysis using the ATUS data base, given its
limitations, and it is not apparent how it would materially impact the risk assessment. How would such
an analysis be used is not obvious.

1.       Question 16: The use of the Bell et al., and Zannobetti and Schwartz CR's is reasonable. They
are both highly cited and used in prior studies, which aid in comparisons (which there should be more of
in the report).
2.      Question 17: Likewise, the Jerrett et al., mortality  effect estimate is reasonable. How this is
currently presented needs to be improved.  In particular, the last sentence in the first paragraph on 8-10, it
seems that there are already results, but the rest indicates EPA plans to use the long term effect
estimates. The section where using the long term effect estimate is to be used should recapture the ISA
conclusion on the causal relationship.
3.      Question 18: This section does a good job laying out how the representative analysis was
conducted. The section is comprehensive and demonstrates that the urban case studies range over the
various  air quality, geographic and demographic characteristics experienced by a bulk of the US
population. Fig. 1.13 shows that the counties used are more populated (not surprisingly, and also not a
bad thing). It might be good to also include something indicating the fraction of population covered,
e.g., % of US population (or something like that, but this may have to be adjusted for multi-county
MSAs), to show how well you are sampling based upon population (which strikes me as being more
important).

The Minor issues:

The Tables and Figures are incorrectly labeled (they all start with 1-)

Table 1-1: It would be informative to note the locations of the four extremes shown.
8-10,132: What is meant by "high confidence", and such a high confidence is not supported in the
manuscript.

8-24, Is the reference to section 7-3 correct?

8-46: In addition to suggesting why Houston and LA might have the lowest effect estimates, please
provide similar suggestions for why New York and Detroit have the highest.
Comments on Chapter 9

You can tell this is a work in progress. First, it should start out with a summary of the ISA causal
findings and how this motivates the analyses conducted. The way it starts now is not entirely


                                             B-67

-------
comprehensive in that it does not really cover what was done as part of the national level risk assessment
for premature mortality (Chapter 8), which does not look at the just meeting the standard scenario.

I am not sure saying something like "20 to approximately 930 deaths" is that useful without some more
context as this is for the various cities, which, of course, will have different numbers of deaths because
of size. The % of all-cause mortality provides some of that context. (Also, it should be approximately 20
to  930.) It would also be good to link this back to specific tables in the chapter. Actually, a table, similar
to  those in Chapter 7, can summarize this information well and provide the desired context. It could
contain the range of #deaths per city (but not the specific cities), the total amongst all the cities
examined, and the % of all-cause mortality, for both the base and just meeting the standard cases.

The current summary suggests that a future REA may include additional health endpoints. Whether this
is the case or not, the Summary should discuss them and the implications of considering them in
assessing the adequacy  of the current standard and potential alternatives.

The Minor issues:

9-8,132: You state there is considerable variation. I looked at the results as being remarkably similar.

9-10,16: You state that  2010 had slightly higher ozone... as compared to what time period? Be explicit
here.
Comments on the Welfare Risk and Exposure Assessment

Executive and Integrative Summary

I hope both are coming. Also, parts of the Welfare REA suggest that different, or extended, analyses will
be done for the next draft. It would have been nice for these to be mentioned up front. The last paragraph
of the synthesis actually does this well... though should have been more detailed in the synthesis
chapter.

Comments on Chapter 2

The Conceptual Framework should provide more discussion on how the risks are determined, including
discussions about assessing current risk, just meeting the standard, and assessment of the risks from
meeting alternative standards. At present, it does not lay out the conceptual part of conducting a risk and
exposure assessment (e.g.,  methods and tools and how the results would be analyzed). This is done, but
in too much detail, in the SCOPE.

The Minor issues (similar to Health REA):

2-1,. L4 remove","

2-2,1 17 (and elsewhere): Use chemical subscripts correctly


                                             B-68

-------
2-3,14 Use of "valleys" here can be misleading (some will think topographically). Change to ... local
decreases where ozone..."

L6: ..., and the NC>2 formed can lead to 63 formation..." (it can form HNO3 as well)

L8: Likewise, don't use "valleys" in this context.

2-3,124 replace relatively insensitive with less sensitive., and "both" with "either"

2-5,17: Do you mean intrusions?

2-6 need a space in "Below ground" in the figure.

2-8 "e"? (At the end of the sentence.)

2-14,113: You bring up in the conclusions that "air quality models ... show that important
ecosystems..." If this is part of the conclusion, those should be discussed somewhat more in the chapter
along with what has been shown.


Comments on Chapter 3

3-8,16 Maybe replace extrapolate with estimate?

3-8,123-25: What alternatives? Where are they described?


Comments on Chapter 4

For what is there, Chapter 4 provides a reasonably clear discussion of the air quality considerations
involved in the Welfare REA (WREA). However, it ends abruptly, and how you would deal with
meeting alternative standards is not addressed (if that might ever be done... if not, you might actually
explain why the difference with the Health REA). If the plan is to evaluate W126-based standards, doing
a national analysis where  the ozone is adjusted to meet a specific W126 level would have been
instructive. The chapter does not do a good job of describing the types of future analyses being
contemplated, including what alternative types of rollback approaches are planned or which types of
standards to be evaluated  are envisioned.

1.     Question 4: Appropriateness of years of air quality: Fine choice. You want to avoid 2009 as an
abnormally low year in parts of the country.
2.     Question 5: Approach used to  develop W126 surface:  Fusing CMAQ results with observations is
good. Looking at the three year average, and the individual years, is good.  You should more clearly
explain how this works in to the "just meeting the standard" scenario.
3.     Question 6. Methods for simulating just meeting the standard
a.     Quadratic rollback approach: A problem with the quadratic roll-back (or linear or Weibull, I
think) methods are that they do not allow for lower levels  to actually increase in response to controls,

                                             B-69

-------
and a few other issues are of potential consideration as well. Indeed, the health REA proposes using an
air quality model-based method (HDDM) to quantify how levels will go down. Further, only having the
monitors experience exceedences go down is also problematic, with a specific example captured in the
text (if two sites are close, and one is exceeding, only that monitor is reduced: page 4-7).
b.    Alternative approaches: Given that a more comprehensive approach (CMAQ with HDDM) is
being used in the health REA, its use should be examined for application here. You could use the
HDDM  sensitivities to reduce ozone at the specific monitors, which are then applied in MATS.

The Minor Comments

4-4,113"... sum the weighted hourly..."

4-5 13: You should explain, at least to some extent, what the Kohut analysis is, and how it will be used,
before saying "For the specific application of the Kohut analysis..." Further down the page it is then
mentioned the Kohut analysis will be described "in more detail" in chapter 5. Up to this point, there has
been no detail. I would give a few sentences at the beginning of this paragraph, or possibly even on page

4-3, about the Kohut analysis.
Comments on Chapter 7

Not a bad start at all. One comment from above: a more detailed discussion of the different analyses to
be done as part of the second draft would have been useful.
                                             B-70

-------
                                        Dr. Helen Sun


Comments on the Health Risk and Exposure Assessment

Comments on Chapter 5 - Characterization of Population Exposure

 7. To what extent does the Panel find the methods used to conduct the exposure analysis technically
sound? Does the Panel have any recommendations on the methods used?

The overall methods used to conduct the exposure assessment are sound but too vague in either the
description or discussion the approaches that will be used. Since the sensitivity analyses, which will be
conducted in the second draft REA, is a key component of the REA, the methods that will be used for
these analyses should be discussed in more detail. As is written currently, only a cursory description of
the uncertainty analyses is provided. Also, important, but not discussed in sufficient detail or referenced,
is model performance, particularly in light of recent improvements made to the model. How these
improvements affect model  performance will be important to the credibility of findings from exposure
and health assessments. This discussion could be added as a new section between the current Sections
5.3.1 and 5.3.2. Similarly, the methods that will be used to estimate multiple repeated exposures and to
correct current underestimation of the findings were not discussed. Given the relative paucity of
longitudinal activity pattern data, it is not clear how this will be performed.

Additional areas that warrant clarification or further elaboration are listed briefly below:
•      A figure that describes the modules, inputs, outputs, years and cities of the APEX model should
be added to Section 5.3, as this figure would help the reader (especially those not familiar with APEX or
probabilistic exposure modeling) understand the process by which ozone exposures are calculated.
•      The age and spatial representativeness of several of the input databases are of concern,
particularly as they are related to the estimation of exposures for children and asthmatic children. The
datasets that are relevant to children are dated and are from limited geographical areas. As a result, their
relevance to current conditions and the 16 examined urban areas is not clear, may vary with
geographical area, and will likely be a major source of uncertainty in the APEX model results. A prime
example of this is the CHAD database, for which the majority of data were collected more than a decade
and even two decades ago. This is particularly true for data collected for children. Further, it is not clear
what fraction of the data were collected during the high ozone season or for the 16 urban areas, as would
be relevant to this assessment. The impact of the dataset age and temporal and spatial representativeness
on the APEX findings should be discussed in more detail. Even if the APEX uses the most current
available data, it is possible  that these data are too old to be relevant to current scenarios. The extent to
which this is true  should be  discussed.
•      Page 5-13 "Averting Behavior and Exposure" section: This section should be moved to Section
5.5 "Variability and Uncertainty", as it does not contain methods to correct exposure estimates for
averting behavior. As a curiosity, when were ozone alerts first issued? Does this time period overlap
with the activity pattern data collection? If not, this should be mentioned in the discussion.
•      Page 5-15 (corrected version), lines 1-16 (beginning with "Therefore,..."): This discussion is
speculative and convoluted. I would delete and replace with a sentence such as the following "Thus,
ozone exposures,  particularly for asthmatic children, may be underestimated on high ozone days."


                                             B-71

-------
•      Page 5-16: It seems possible that other factors, such as gender, would affect variability in EVRs
in addition to BSA and exercise level. The discussion should list these factors and if possible consider
these factors in the estimation of EVRs or their contribution to uncertainty.
•      It will be important to expand the analysis to older adults and to outdoor workers, as is currently
planned. This expansion should be of relatively high priority.

8. To what extent does the Panel find the assessment, interpretation, and presentation of the results of the
exposure analysis as presented technically sound, appropriately balanced, and clearly communicated?

•      The discussion of the results and their interpretation is interesting, but its clarity could be
improved  with greater organization and detail.
o      Page 5-24, lines 26-31: The overview of the set of figures and tables with results included in the
results is confusing. It was very hard to discern to what figures references were being made.
o      A discussion summarizing the key main results should be provided, as no discussion was
currently provided beyond the figures and tables. Some of this summary can be found in first two
paragraphs of Section 5.6.2 and in Chapter 9 (Synthesis). The summary found in Chapter 9 can likely be
removed, while the Section 5.6.2 paragraphs can be moved forward into the presentation of results and
comprise the start of the results presentation. As noted below, Section 5.6.2 can  subsequently be
modified to focus on explanations of the findings and integrating the main results with those from
Section 5.6.1.
o      The presentation of the findings would be improved with summary tables or figures (and
corresponding discussion) of the distribution of the exposure estimates for each city, and not just the
percent of people with exposures above benchmark values.
o      The axes for Figures 5-1 to 5-15 should be  labeled more completely and clearly to help the
reader. As is currently, the labeling of the figures and tables is confusing.
•      Section 5.6.1 was well-written and clear, with interesting findings. The discussion of these
findings should be expanded to discuss whether and how these findings will be incorporated into the
planned uncertainty or health analyses.
•      Section 5.6.2: The discussion of the APEX model results could be enhanced with several
modifications:
o      As noted above, the discussion could be refocused to (1) integrate the main findings with the
analysis of factors affecting results, (2) discuss the impact or import of the findings to the subsequent
health analyses
o      Figures "4-1 to 4-15" should be relabeled to "Figures 5-1 to 5-15".
o      The last paragraph on Page 5-52 should be  moved, as it is not a discussion but a result. Perhaps
this paragraph and figures should be made into its own section 5.6.2, with the current Section 5.6.2
("Discussion of Exposure Modeling Results", save the last paragraph) made into a new Section 5.7 that
is renamed "Discussion".

 9. Regarding the characterization of uncertainties and variability:
a) To what extent does the Panel find that the uncertainties associated with the exposure analysis are
clearly and appropriately characterized?
b) To what extent does the Panel find that the uncertainty assessment is technically sound? Are there other
important uncertainties which are not covered?
                                              B-72

-------
10. What are the views of the Panel on the sensitivity analyses that EPA plans to conduct as part of the
second draft REA to evaluate the influence of uncertainties in the exposure analysis?

The plans for the sensitivity analyses are discussed only briefly, but seem appropriate, with analyses
planned to examine each of the major uncertainty contributors. Since the methods used to conduct these
uncertainty analyses are not discussed, the technical  merit of the uncertainty analyses cannot be evaluated.
However, for the sensitivity analyses for air exchange rates, it is likely important to restrict air exchange
rates to be temperature- as well as city-specific.

Further, the discussion of averting behavior on high  ozone days (as noted above) should be included in this
section. Analyses examining the impact of averting behavior on exposure estimates should be performed,
possibly by relying on data from the RTI Ozone Averting Behavior study to characterize the distribution of
time spent outside for the important population sub-groups and high ozone days.

As noted on Page 5-16, fluctuations in children's activity levels are a major source of uncertainty in MET
estimates. However, the impact of these fluctuations on exposure estimates will not be examined. If this
examination is not possible given available data, it should be mentioned as a major limitation of the
uncertainty analysis.

Other:
•      Citation regarding composite monitor constructs:
o      Sarnat SE, Klein M,  Sarnat JA, Flanders WD, Waller LA, Mulholland JA, Russell AG, Tolbert
PE'-An examination of exposure measurement error from air pollutant spatial variability in time-series
studies. J Exposure Science Environ Epidemiology 2010; 20, 135-146.
(There may be other citations as well.)
                                              B-73

-------
                                    Dr. James Ultman


Comments on the Health Risk and Exposure Assessment

Comments on Chapter 6

1.  To what extent does the Panel find the methods used to conduct the risk analysis to be technically
sound? What are the views of the Panel members on the methods used?

A clear statement or equation of how the endpoint, %AFEV, is calculated is absent from the REA. Pages
6-4 and 6-5 of the  ISA leads me to believe that %AFEV decrements for a particular individual are
probably computed relative to filtered air (FA) exposure by a formula such as:

                          %AFEV=-100[AFEVlo3-AFEVlFA]/FEVl03
where
            AFEVl03=(FEVlpOSt-o3- FEVlpre.o3) and AFEVlFA=(FEVlpOSt-FA- FEVlpre.FA)

The argument for subtraction of the FA exposure is that an intrinsic  exercise effect (separate from the
increase in ventilation by exercise) would otherwise give a misleading value of the ozone-induced FEV1
decrement.  For  example,  if exercise-induced bronchospasm occurred, then AFEVlco,  would actually
result from a combination of ozone exposure and ozone-induced bronchospasm.

The argument against subtraction of the FA exposure is the possibility of day-to-day changes in the
accuracy of the FEV measurements.  Such a  variation in  accuracy  would constitute an  error in the
%AFEV computed from the above formula.

As discussed in some detail on pages 6-4 and 6-5 of the ISA, many healthy subjects  exhibit  a small
improvement in FEV1 upon FA exposure while others exhibit a small decrement. For the subjects that
show an improvement, this increases their %AFEV decrement when computed by the  above formula;
this effect is particularly important at small ozone exposure levels when FEV1 decrements are small.

The McDonnell-Stewart-Smith paper in 2012 uses a compromised method between computing %AFEV
for an individual on the basis of their own AFEVlpA and computing %AFEV without subtracting the
AFEVlpA contribution. They average the FEV decrements in FA for the entire subject  population in a
given study, and use that value to correct each individual's AFEVlos- This method should be considered
in making final computations.

2.  To what extent does the Panel find the assessment, interpretation,  and presentation of the results of
the risk analysis as presented in Chapter 6 to be technically sound, appropriately balanced, and clearly
communicated?

There is some lack of clarity that detracts from the presentation and interpretation of the results. For
example, the manner in which the minimum and maximum values are selected in table 6-4 (and other
similar tables) is not explained until the end of the chapter. In figures 6-20 to 6-30, it appears that only

                                           B-74

-------
the median values generated by the MSS model are reported. Will a measure of population distribution
(i.e., box plot) be shown in future drafts of the ISA?

3. To what extent does the Panel find the focus of the assessment on lung function decrements in the
quantitative risk assessment to be appropriate and informative?

Clearly, the wealth of data available on FEV1, makes it an attractive marker to use in a quantitative risk
analysis. Additional  parameters  such  as FEF25-75  or FVC are routinely measured along with FEV1,
although they have  been reported in the literature to a lesser extent. These parameters alone  or in
combination with  FEV1  provide an  alternative basis of  quantifying  clinically-significant   lung
dysfunction. I don't believe that this is mentioned in the REA. I wonder whether any of these parameters
have been considered.

4. What are the views of the Panel on the use of the two different modeling approaches for specifying the
exposure-response function linking the change in FEV1 to ozone exposure?

•      In describing the MSS model, the biological/physiological rationale for the differential equation
in Xp should be improved (see the descriptions in the McDonnell (2012) and/or Schegle (2012) papers
•      Clearly, the MSS model has the potential of reducing uncertainty by tailoring its predictions to a
subject's specific ventilation rate,  body surface and age. In principle,  it can also accommodate time-
varying and  repetitive exposures.  The  first draft  REA demonstrates that there can  be a substantial
inconsistency between the probabilistic  population-based model and the MSS model. In particular, the
MSS model appears to make substantially larger predictions of affected individuals (table 6-9). Further
comparison of the two exposure-response approaches under alternative ozone standards  is necessary.

•      In order to capitalize on the MSS model,  it is important that all the  original  study data be
available to EPA, including those data collected outside of the EPA  laboratories by Adams and by
Schegle.

5. What are the views of the Panel on the treatment of the relationship between age and AFEV1 in the
McDonnell-Stewart-Smith model?

In the  absence of appropriate data, the  approach of freezing the age factor at 35 years is reasonable.
Given  that FEV1  decrements, might  very well  show  a further  decline  with age>35,  this may
overestimate the response of the elderly.  It would be useful to comment on this in the text of the REA.

6. To what extent does the Panel find that the qualitative discussion of uncertainty and variability has
covered important sources  of uncertainty and variability  and has appropriately characterized  the
relationship of those sources of uncertainty and variability to the risk estimates?

I understand  that evidence in the literature supports the assumption that the exposure-response function
for healthy children is similar to that in  adults; in that case, any difference in health risks would be due
only to differences in activity patterns.  It is unlikely that this is a reasonable assumption for children

                                              B-75

-------
with asthma, considered to be an important high risk population.  Would it be possible to perform a
sensitivity analysis of this assumption using the limited information in the literature?

7.  What are the views of the Panel on additional sensitivity analyses or other approaches to addressing
uncertainty and variability?

See item 6.
                                              B-76

-------
                                       Dr. Sverre Vedal


Comments on the Health Risk and Exposure Assessment

Comments on Chapter 7 - Characterization of Health Risk Based on Epidemiological Studies

11. Regarding the epidemiologic studies used in the analysis:
a) What are the Panel's views on the set of epidemiological studies selected for use in specifying C-R
functions and on the set of C-R functions specified for use in the risk assessment?

•       The use of multi-city studies for the health endpoints where these are available is justified. Use
of Bayesian shrunk estimates is also justified. It is appropriate to express additional uncertainty when
using C-R functions based on only one city.

b) To what extent does the Panel find the detailed descriptions of rationales for the selection of the
epidemiological studies and the selection of the set of C-R functions specified using those studies to be
appropriate and complete?

•       Good.

12. To what extent does the Panel find that the qualitative discussion of uncertainty and variability have
covered important sources and appropriately characterized the relationship of those sources of
uncertainty and variability to the risk estimates?

•       The discussion is rigorous and thorough.

•       The greatest source  of uncertainty in all ozone epidemiological studies, but especially those that
involve elderly people who are ill (ie, those susceptible to dying from ozone exposure), is the
presumably substantial exposure measurement error when exposure is based on central ambient
monitors, and what this implies for the health effect estimates. The epi studies (specifically, short-term
exposure mortality studies) make use of the same monitors used to assess compliance with the NAAQS,
so in some sense it doesn't really matter that the relationship between true exposure and mortality could
be quite different, or could be due instead to a pollutant (presumably indoor) for which ozone is simply a
marker, but whose concentrations are reduced when ambient ozone concentrations are reduced. This
source of uncertainty is qualitatively different from the sources itemized in the risk assessment. I'm not
sure how this uncertainty should be expressed, or whether it needs to be considered in this context.

•       Exposure measurement error could also be a source of variability in effect estimates.

•       Table 7-6, C. Comments column. Ozone concentrations do not really vary spatially as a function
of sources, apart from ozone quenching by NO from roadway emissions.
                                              B-77

-------
 13. Regarding the results of the risk analysis:
 a) What are the views of the Panel on the presentation and discussion of risk estimates,
 including the key observations presented in section 7.6.2?

 •       Table 7-15. "Pathway-specific" is not very descriptive of cardiovascular vs. respiratory.

 •       Table 7-24. These are very large effects, likely determined by the effect size in the
 Boston study. Nevertheless, does -15% of all asthma exacerbations being due to ozone
 exposure pass the credibility test?

 •       Section 7.5.2. This section on just meeting the current standards is very repetitious of
 the previous section on recent conditions (section 7.5.1). It would be more useful to say
 something like the assessment is identical to that for recent conditions, and then focus on some
 differences, if there are any.

 •       Many of the key points in Section 7.6.2 merely reiterate (rather than summarize) those
 points detailed previously.

 b) What are the views of the Panel on the presentation of the distribution of O 3-related mortality across
 daily Os levels for each city as "heat maps"?

 •       Nice

 •       Note the dramatic difference between the Zanobetti (Table 7-7) vs. Bell (Table 7-9) estimates
 for total Os-related deaths for Los Angeles.

 14. To what extent does the Panel agree with the characterization of overall confidence, including the
 degree to which the conclusions reached regarding overall confidence are supported by available
 information?

 •       Agree with the approach and plan for the next version of the REA.

 75. What are the views of the Panel on EPA 's discussion of potential refinements to the REA for the
 second draft, including the plans for quantitative sensitivity analyses, additional refinements to the core
 risk estimates, and plans for assessment of long-term  mortality and morbidity (i.e., plans to model risk
for mortality and the decision not to model risk for morbidity endpoints, given data limitations)?

 •       I do not support performing an exposure and risk assessment for long-term exposure and
 respiratory morbidity.

 •       The Lin (2008) study  is described as "the strongest of the long-term 63 exposure and respiratory
 morbidity studies" (p.7-80, line 21), although in the ISA-3, this honor  is bestowed on the CHS studies on
 new-onset asthma. Note that the long-term exposure study is 2008b and the short-term study is 2008a
 (line 37) in the references.
                                               B-78

-------
Miscellaneous Comments

p. 7-23, lines 17-21. This is a standard point regarding confounding, but has little relevance in the setting
of short-term exposure epi studies, which is the focus in the risk analysis, and time series studies in
particular, where non-time varying factors do not confound.

p. 7-28, line 29. Generating Bayesian-adjusted city-specific estimates is not a study design. It's merely a
way of using study findings to express effect estimates.

p. 7-78, line 21. Should be 50% "higher"?
                                              B-79

-------
                                   Dr. Kathleen Weathers
Comments on Chapter 1: Introduction

1.     Does the Panel find the introductory and background material, including that pertaining to
previous reviews of the Os standards and the current review, to be clearly communicated and
appropriately characterized?

Yes.
Comments on Chapter 2: Conceptual Model

What's the significance of the colors in Figure 2.1? If none, don't use them. If there is significance,
identify in figure legend.

2.     To what extent does the Panel find that the materials accurately reflect and clearly
communicate the currently available welfare effects evidence, and the relevance of that evidence for
quantitative exposure and risk assessment, as characterized in the 3r  Draft ISA ?

It does.

Seems that biodiversity could/should be included Figure 2.1.

The statement, "Rural areas, such as national  parks, national forests, and state parks, tend to be less
directly affected by anthropogenic pollution sources than urban sites." is not necessarily true. Consider
sensitive sites, downwind of long(ish)-range transport and  the fact that diurnal ozone cycles are
dampened at high elevations.

Conclusions:

It would be useful to add a sentence on what is known about the relative importance of natural vs
anthropogenic sources of tropospheric ozone  (by region, if necessary, e.g., 2-14).

I suggest that the fact that responses are species-specific and that there are data for few dominant tree
(shrub or herb) species are available be included here.

This chapter needs some copy editing. Among other things, misspellings and partial sentences exist.
Comments on Chapter 3: Scope

3.     To what extent does the Panel find the scope of the welfare risk and exposure assessment to be
clearly communicated?
                                             B-80

-------
The scope is well communicated. I especially appreciated that the REA started where the last one ended.

Somewhere, perhaps in the last chapter, I would like to see a list of data and synthesis needs that would
result in a more robust analysis five years from now.

I suggest that some indication of the gap filling and "fusion" approaches used in this REA be mentioned
in the scope chapter (rather than just mentioning that "new" approaches were used).

The use of spatial data and GIS mapping is promising, but, as always, the devil is in the details—the
details of extrapolation methods, data to underpin that extrapolation, different spatial resolution of
data/data layers. The methods used and especially how data were fused were not entirely clear to me
(throughout the document).

If history repeats itself, the uncertainty and variability section (not included in this draft) will be
critically important to CASAC's ability to provide constructive comments.
Comments on Chapter 5: Ecological Effects

A few overarching comments.

I think the EPA has done a commendable job trying to extrapolate and make relevant the RBL, visible
injury and veg. susceptibility data across the country. It is a good start. That said, the chapter needs
significant editing to make clear both the complicated and sometimes convoluted analyses as well as the
interpretation of these analyses. Parts of this chapter are quite tedious to wade through and unclear. In
the next version of the REA, I suggest not only reporting the (for example) RBL results of analyses, but
adding a phrase of interpretation of what they mean (in clear language).

I suggest modifying "These results strengthen our understanding of O3 effects on forests and
demonstrate the relevance of the knowledge gained from trees grown in OTC studies: to the "field"
relevance."

Section 5.2:  I think it important to define what is meant here by threshold—when it is first used.

Page 5.5: The grid cell size should be noted when CMAQ is invoked. It is only later in this section that
12k grid cell sizes are identified. It seems to me a mismatch between 12km grid cell sizes and species-
specific seedling responses as well. Over what percentage of any grid cell is any one of the species (and
seedlings!?) mapped represented?

Actually, I am not sure how or why mapping seedlings makes  sense for the big picture.

The figure and table legends should be more clear and descriptive so that they are interpretable even
without the text (e.g., "rolled back to meet the current 8-hour standard" .. .of xxx; Importance Value—
add a phrase about what that, and the legend, mean).

Also, please note the geographic location of Wilderness areas in Table 5.4


                                             B-81

-------
I was surprised that there was no acknowledgment in this chapter of the importance of elevation and/or
landscape heterogeneity in affecting ozone exposure or synthesis/extrapolation results.

7. Regarding the assessment of relative biomass loss (RBL)for individual species:
a) What are the views of the Panel on the use of the linear model forced through the origin to assess the
proportional relationship between the relative biomass loss (RBL) values for each species comparing
the RBL at recent ambient conditions to the RBL under the scenario modeling O3 just meeting the
current standard?

Section 5.2.1.2: It's a little unclear to me what was done here. The mapped RBLs were then compared
using a linear regression?

A linear model is unlikely to be mechanistically explainable. However, if it is true that at 0 W126RBL
would also be 0, it seems reasonable to force the lines through the origin.

b) To what extent does the Panel find that this an appropriate analysis to compare the proportional
changes in RBL? Does the Panel have suggestions for alternative approaches that provides a
comparable result and maintains the cell-by-cell approach to help control for environmental variability?

Proportional changes are useful.

c) To what extent does the panel agree with the approach used to combine the 11 tree species into one
analysis?

This is a difficult question and it depends upon to what end the analysis is used. Trees respond
differently to ozone, of course and there are sensitive and insensitive species. To what extent does policy
need to take into account the response of the most sensitive species? Those questions notwithstanding,
my initial response was that the analysis is necessary and useful to get a sense of what the average is.

This (and many others) paragraph is completely unclear to me:
"Using this  approach provides two advantages. First, it will in part correct for variability in O3
exposures in different regions. For example, one source of variability is the difference between O3
concentrations measured at the height of ambient monitors and those occurring at the height of the actual
tree canopy. In the 2007 Staff Paper (U.S. EPA, 2007a) this difference was addressed by applying a 10%
reduction in hourly O3 values in each grid cell. That methodology introduced uncertainty, but was a
useful in comparing the effects of uncertainty in the O3 exposure values."

8. Regarding the assessment of RBL for combined species:
a) To what extent does the Panel support the use of the Importance Values from the  U.S. Forest Service to
weight the RBL values in extrapolating from individual trees to larger ecosystem level effects?

It seems to me that there is little other choice. It's an imperfect solution, but one that has available data to
underpin it.  It is important to be able to extrapolate from the trees to the forest (and I would phrase it this
way rather than "larger ecosystem level effects," which really don't have any meaning).
                                              B-82

-------
b) What are the views of the Panel on the use of the summed-RBL as a metric to use for assessing
effects at the larger ecosystem scale?

This needs more explanation and discussion. It's a bit of "fusion" mish-mash.

c) Does the panel have any recommendations for methods to include a wider range of tree species
(beyond the 8 species included)?

Not without data to underpin them. Hopefully the FIA/FHM data will help.

9. What are the views of the Panel on the use of federally designated Class I and Critical Habitat areas
as endpointsfor this analysis? Does the Panel have any suggestions for additional parks beyond Rocky
Mountain National Park and Sequoia/Kings Canyon National Park that should be analyzed? Does the
panel have recommendations for additional or alternative geographic analysis areas that could be
used?

I agree with this approach. These Federally designated areas are sensitive,  have a mandate to protect
the biological resources, and often have finer spatial scale data to be used in the extrapolation. Since
coastal sites along the eastern seaboard are subject to high ozone, I suggest including Acadia or Cape
Cod National Parks.

10. To what extent does the Panel find that the vegetation mapping data from USGS and NFS used to
generate a scaled-RBL surface in Great Smokey Mountain National Park is  appropriate?

For these case studies, it is appropriate and useful to have finer spatial scale  data for extrapolation and
synthesis. The spatial scale of the data should be noted, however (e.g., page  5-29).

This paragraph was completely unclear to me:
"Whenever possible, only plots from within the park were used. In some cases, no plots were available
from within the park and  in those cases plots from the same vegetation community in nearby areas were
used. In a few cases there were no plots available, and those communities were excluded."

11. Regarding the screening level foliar injury risk assessment:
a)     To what extent does the Panel find the updated assessment of foliar injury risk in national parks
originally performed in Kohut (2007) to be an appropriate screening level risk assessment?

I find it of use because there is a prior study with which to compare the current analysis. However, as
was identified in the text, I do have questions about whether these are the correct controlling variables.
I was unsurprised that an analysis  of data suggested an inverse relationship between ozone and soil
moisture; one would expect exposure to be higher in dry conditions.

b)     What are the views of the Panel regarding the potential methods for  estimating O3
exposure at additional parks?

Use of local monitoring data and empirical relationships built in the locations that have spatially explicit
data is one approach.
                                              B-83

-------
c)     What are the Panel's views regarding the appropriateness of requiring that two criteria must
be satisfied (i.e., based on both W126 andNlOO) in order to receive higher risk ratings?

It is a conservative, but potentially more confusing approach. I suggest using just one criterion—the
proposed form: W126.

d)     Is the Panel aware of any assessments of foliar injury in national parks conducted between
2006 and 2010 that could potentially be used to validate the updated risk ratings?

Check with NFS natural resource managers and FIA/FHM monitoring results.

12. Regarding the assessment of cover ofOs sensitive species:
a) To what extent does the Panel find the preliminary analysis of sensitive species
cover to be an appropriate and useful approach to highlight areas of potentially higher risk due to
the presence of sensitive species?

 I think that it is a useful approach. I also think it important to take into account the landscape
features (e.g., high elevation).

b) To what extent does the Panel find the vegetation mapping data appropriate to assess the cover
of Os sensitive species in GSMNP?

It's a useful tool.

c) What are the views of the Panel on the decision to not distinguish between
vegetation strata (i.e. herb, shrub, tree)? To what extent does the Panel agree with this methodology
relative to analyzing the strata individually?

Since sensitivity is likely to vary (as is ozone exposure, by strata), I think it important to look at strata
individually as well, but I do not think it's realistic to extrapolate this information across the US. The
data are way too sparse.

d)     What are the views of the panel on using benchmarks, similar to those used in the Kohut analysis
of foliar injury risk, to allow estimates of change between exposure scenarios?

Reasonable.
Comments on Chapter 6: Ecosystem Services

General comments:
I am very pleased that the EPA has chosen to use the existing MEA framework/definitions for
ecosystem services. It's important not to reinvent the wheel.

6.2.1.1: Be sure to distinguish when and if ANPP vs NPP is what is meant in these studies.


                                              B-84

-------
 13. To what extent does the Panel find that EPA has adequately characterized the range of
 ecosystem services that are potentially adversely affected by O3?

 They seem adequately characterized, especially given the inability to quantify effects.

 14. To what extent does the Panel agree with EPA 's ecosystem services framework, connecting O3
 exposure, through ecological effects to ecosystem services?

 I agree that it's a reasonable approach.

 75. Does the panel agree with EPA 's use of combined O3 exposure data with other data sources (e.g.
fire data, bark beetle maps,  trail maps)  to link areas of concern or interest with areas of higher
 vegetative risk due to O3? Does the Panel have any  recommendations for additional datasets and
 ecosystem services that could add to or improve these analyses?

 I Agree. No, sadly.

 16. Regarding the analysis of forest yield impacts:
 a)     To what extent does the Panel agree that the Forest and Agricultural Sector Optimization Model
 (FASOM) model is appropriate to assess timber and crop yield changes and the effects of those changes
 on additional ecosystem services?

 I don't have experience with this model, however, to the extent that is has been vetted and used, it
 seems reasonable.

 b) What are the views of the Panel on the extrapolation of concentration-response junctions across
 similar species?

 In the absence of any other data or information, it may have to suffice, but it is not optimal. Assumptions
 and details of extrapolation should be clearly articulated.

 [The appendix detailing the FASOM analysis will be submitted for review in August]

 17. Regarding the analysis of urban forest impacts:
 a) To what extent does the Panel feel that the i-Tree model is appropriate for assessing changes to urban
forest ecosystem services based on O3 exposure?

 Again, I do not have direct experience with this model, however, as a qualitative, comparative approach,
 it is useful.

 b) In order to increase the number  of tree species covered by the  iTree  model, does the Panel have
 recommendations for additional species that could be included, based on estimates from similar species?

 [The appendix detailing the i-Tree analysis will be submitted for review in August]
                                              B-85

-------
18. Regarding the use ofPnET-CN:
a) What are the views of the Panel on the potential use of the PnET-CN model in the
2nd draft to assess impacts on larger scale ecosystem services (e.g. hydrologic changes, c
sequestration)?

I suggest using this model and perhaps another that was parameterized for western systems,
initially, such as Day-Cent-Chem (Century derivative), to compare. [Note: I do not know whether
a model such as Day-Cent-Chem could be modified or parameterized for this use, however. The
developers would need to be contacted.]

b) Does the Panel have recommendations of other models that are accessible to EPA
that could be used instead of PnET-CN?

See above.

19. Regarding ecosystem services related to foliar injury:
a) To what extent does the Panel agree that potential visible foliar injury is appropriate to use as a metric
to assess potential loss of cultural services associated with recreation in national parks?

I agree.

b)    Does the Panel feel that there are  O3 benchmarks that could be used to assess changes in foliar
injury potential between exposure scenarios similar to those used by Kohut (2007)?

I am not aware of any.
Comments on Chapter 7: Synthesis

20.  To what extent does the Panel find the synthesis to be a useful integration and summarization of key
results and insights regarding the overall welfare exposure and risk analysis?

This is useful and mostly clear but is really not a synthesis, perse. Rather it is a summary. I think that
parts of this section should appear before the other sections. Perhaps as a type of executive summary.

Is the reference point of no ozone reasonable and defensible?
                                             B-86

-------
                                    Dr. Peter Woodbury


Comments on the Welfare Risk and Exposure Assessment

Summary Comments - Major Topics

I appreciate the effort that has gone into developing the WREA. EPA staff have made a productive and
creative effort to model multiple types of effects of ozone on different kinds of vegetation in different
environments. The use of ecosystem services as a conceptual framework is helpful and timely.

Also, there are some efficiencies to be gained by eliciting our comments on a partial draft. But I do think
it should be kept in mind that we are reviewing a partial draft, not a complete first draft. For this reason,
you may get more comments than you'd like when we review a complete draft.

I found that the charge questions were overly narrow, and were formulated to elicit a "yes/no" answer.
There were several major issues with the document that were not addressed by the charge questions. Thus
while I have responded to the charge questions, I also provide below some overarching comments. I have
labeled each issue below so that I can refer to them in my subsequent responses to charge questions.

(Issue — crops) Much more attention and analysis is required for crop yield loss.  As summarized in the
ISA, there is very strong evidence going back for decades that  ambient ozone exposure in many locations
and years is causing yield loss of sensitive annual crops and trees. In the jargon of ecosystem services,
food and feed production is a critically important provisioning service. Effects on sensitive crops such as
soybean should be analyzed at the least at the same level of detail as is currently provided for individual
tree species. Specifically, the WREA should provide crop yield loss estimates for individual crops
separately for different regions for current ambient ozone conditions for individual years, as well as
projected ozone scenarios. Lastly, at the end of this expanded section,  it should be made clear that decades
of evidence, as well as new confirming evidence clearly show that major crop and tree species experience
growth and yield loss due to ambient ozone in many regions and years.

Also, it is very important to include yield loss due to ozone as an adverse effect for farmers in regions
with high ozone exposure. Such analysis would provide a firm basis for estimating adverse welfare
effects. It is inadequate to analyze only sector-wide economic effects of reduced crop yield due to ozone,
as is currently done using FASOM-GHG. The sector-wide approach is inadequate because it does not
account for yield and income loss experienced by farmers in areas with elevated ozone. Farmers in low
ozone regions will be winners of while producers in high ozone regions will be losers. In other words,
ozone is causing a shift of income from farmers in higher ozone regions to those in lower ozone regions.
Greater income to farmers in low ozone regions does not any way offset the loss of income to farmers in
high ozone regions. Thus analyzing only sector-wide impacts misses the important effects on crop yield
and on farmers in high ozone regions. This point is related to another major point that impacts should not
be averaged among high ozone regions and lower ozone regions. Additionally, soybeans  are a global
commodity, and reduced yields in the US due to ozone decrease the competitiveness of US farmers
compared to farmers in other countries with lower ozone levels.
                                             B-87

-------
(Issue — competition) More attention needs to be paid to effects of ozone on competition among species
that are highly sensitive to ozone competing with species that are less sensitive to ozone in mixed-species
stands. For herbaceous species, there are substantial data from experiments showing differential effects
on sensitive species grown in mixtures with other species. For woody species, there are ample data on
differential sensitivity among species, and ample evidence from theory and physiologically-based
modeling studies about effects on sensitive species grown in competition with less sensitive species. This
is an important topic because competition exacerbates effects of ozone on sensitive species of vegetation.

(Issue - sensitive) For the risk analysis, do not average effects on sensitive and less sensitive species.
This comment applies to both crop species and tree species.
       Crops such as soybean are sensitive to ozone and are widespread. Averaging effects on sensitive
crops such as ozone along with less sensitive crops gives a false impression of less effect of ozone.
       For tree species, there is the same problem with averaging effects of ozone among sensitive and
less sensitive species. Also, there is another problem that in many parts of the USA, tree species grow
together in mixed species forests, where they compete for light and other resources. See my other main
point about competition.

(Issue - regions) For the risk analysis, do not average effects on high ozone regions and low ozone
regions. Instead, such high and low exposure regions should be analyzed and discussed separately. This
comment applies to both  crop and tree species. In high  ozone regions, there may be substantial predicted
RBL for tree species and for yield for sensitive crop species. While national averages may be useful, they
can obscure important regional effects due averaging in large areas of low ozone exposure with areas of
higher ozone exposure.

(Issue - scaling) More attention needs to be paid to scaling from tree seedlings to mature trees. This is a
well-known issue and there are substantial data in the literature addressing this issue. Previous EPA
documents have discussed this issue in depth, including both experimental results on net photosynthesis
and growth, as well as modeling studies investigating differences among seedlings and mature trees.

(Issue - background) The issue of how to determine a background  ozone exposure pattern to be used
for risk assessment needs to be resolved. For example, page A-42  (WREA Appendix) indicates that yield
is compared to a "clean air" background, and that relative yield gains of crops and trees is assumed to be
zero at ambient ozone. It is not clear to me what this means, is it assumed that ambient ozone is not
currently affecting crop and tree growth? This is not supported by the evidence.

(Issue - appendices) Lastly, I think some material that is in appendices needs to summarized in the
document itself.  There are critical assumptions made, for example, in the FASOM modeling that are
buried in an appendix.
Comments on Chapter 1 - Introduction

1.     Does the Panel find the introductory and background material, including that pertaining to
previous reviews of the O3 standards and the current review, to be clearly communicated and
appropriately characterized?


                                              B-88

-------
Yes, this section is useful and should be retained.
Comments on Chapter 2 - Conceptual Model

2.      To what extent does the Panel find that the materials accurately reflect and clearly communicate
the currently available welfare effects evidence, and the relevance of that evidence for quantitative
exposure and risk assessment, as characterized in the 3r  Draft ISA ?

This section is also useful and should be retained. However, the next draft should distinguish better what
is well known from what is not well known. While there is a lot that is not known about ozone effects on
vegetation, there is also a lot that is known, and it is critical to distinguish what is well known from what
is less well known. Please refer to my detailed comments for the PA for specific examples of both
misleadingly vague language and good, clear language.
Comments on Chapter 3 - Scope

3.      To what extent does the Panel find the scope of the welfare risk and exposure assessment to be
clearly communicated?

This section is also useful and should be retained. However, much more attention should be paid in the
WREA (and the PA) to crop yield loss (see issue "crops" above and response to Question 13 below).
Also, more attention needs to be paid to (1) effects of ozone on competition among ozone sensitive
species and less sensitive species in mixed-species stands (see issue "competition" ) and (2) scaling from
tree seedlings to mature trees  (see issue "scaling").
Comments on Chapter 4 - Air Quality Considerations

Comments for specific page numbers:

NOTE: Page and line numbers may not match the most recent draft, because I had already
completed my (hand written) notes before the newer version became available.

Page 4-7. The rollback method is useful, but does not include the potential for increased ozone exposure
due to increases in precursor emissions that could occur with new development, for example increased
industrial development, petroleum extraction and processes, etc.

Comments on Chapter 5 - Ecological Effects

7.      Regarding the assessment of relative biomass loss (RBL)for individual species:
a.       What are the views of the Panel on the use of the linear model forced through the origin to assess
the proportional relationship between the relative biomass loss (RBL) values for each species comparing
the RBL at recent ambient conditions to the RBL under the scenario modeling O3 just meeting the current
standard?
                                            B-89

-------
It seems fine to force the function through the origin; this represents the structure of the data. The main
problem with this approach is that regional variation is not addressed. See also detailed comments (by
page number) below.

b.      To what extent does the Panel find that this an appropriate analysis to compare the proportional
changes in RBL? Does the Panel have suggestions for alternative approaches that provides a comparable
result and maintains the cell-by-cell approach to help control for environmental variability?

This approach is reasonable, except that regional impacts should be addressed in addition to national
impacts as discussed elsewhere in my comments.

c.      To what extent does the panel agree with the approach used to combine the 11 tree species into one
analysis?

Combining the  11 species gives the false impression of a modest overall effect, while actually there are
very large effects for some species (see issue "species"). Furthermore, the text should analyze and
discuss effects on different regions, not just an average response across all grid cells (see issue
"regions").

8.      Regarding the assessment of RBL for combined species:
a.      To what extent does the Panel support the use of the Importance Values from the U.S.  Forest
Service to weight the RBL values in extrapolating from individual trees to larger ecosystem level effects?

There are substantial problems with this approach, see detailed comments for this chapter below.

b.      What are the views of the Panel on the use of the summed-RBL as a metric to use for assessing
effects at the larger ecosystem scale?

There are substantial problems with this approach, see detailed comments for this chapter below.

c.      Does the panel have any recommendations for methods to include a wider range of tree species
(beyond the 8 species included)?

9.      What are the views of the Panel on the use of federally designated Class I and Critical Habitat
areas as endpointsfor this analysis?  Does the Panel have any suggestions for additional parks beyond
Rocky Mountain National Park and Sequoia/Kings Canyon National Park that should be analyzed? Does
the panel have recommendations for additional or alternative geographic analysis areas that could be
used?

These special areas are appropriate as endpoints, but currently are overemphasized. More emphasis (and
analysis) should be focused on regional impacts of ozone on tree seedlings, forests, crops, and other
vegetation.

10.    To what extent does the Panel find that the vegetation mapping data from USGS and NFS used to
generate a scaled-RBL surface in Great Smokey Mountain National Park is appropriate?

                                             B-90

-------
The use of the vegetation map data is appropriate, but there are problems with the overall method as
discussed elsewhere in my comments.

11.    Regarding the screening level foliar injury risk assessment:
a.      To what extent does the Panel find the updated assessment of foliar injury risk in national parks
originally performed in Kohut (2007) to be an appropriate screening level risk assessment?

In general, this analysis is useful and appropriate, but see detailed comments below.

b.      What are the views of the Panel regarding the potential methods for estimating O3
exposure at additional parks?

c.      What are the Panel's views regarding the appropriateness of requiring that two criteria must be
satisfied (i. e., based on both W126 andN 100) in order to receive higher risk ratings?

The W126 criterion might be adequate on its own.

d.     Is the Panel aware of any assessments of foliar injury in national parks conducted between 2006
and 2010 that could potentially be used to validate the updated risk ratings?

No, but the USDA Forest Service analyses may cover regions near the parks.
 12.    Regarding the assessment of cover ofOs sensitive species:
 a.     To what extent does the Panel find the preliminary analysis of sensitive species cover to be an
 appropriate and useful approach to highlight areas of potentially higher risk due to the presence of
 sensitive species?

 This topic is important and the analysis has some utility, but there are problems with the current analysis as
 discussed elsewhere in my comments.

 b.     To what extent does the Panel find the vegetation mapping data appropriate to assess the cover of
 O3 sensitive species in GSMNP?

 c.      What are the views of the Panel on the decision to not distinguish between vegetation strata (i.e.
 herb, shrub, tree)? To what extent does the Panel agree with this methodology relative to analyzing the
 strata individually?

 I don't understand the rationale for combining the strata.

 d.     What are the views of the panel on using benchmarks, similar to those used in the Kohut analysis of
foliar injury risk, to allow estimates of change between  exposure scenarios?

 Benchmarks should be based on quantitative data about foliar injury for sensitive species.

                                              B-91

-------
Comments for specific page and line numbers:

NOTE: Page and line numbers may not match the most recent draft, because I had already
completed my (hand written) notes before the newer version became available.

Page 5-1, Table 5-1. For the last row of this table, analysis of alteration of terrestrial community
composition should be addressed in the REA. For herbaceous species, there are ample data from
experiments showing differential effects on sensitive species grown in mixtures with other species. For
woody species, there are ample data on differential  sensitivity among species, and ample evidence from
theory and physiologically-based modeling studies  about effects on sensitive species grown in
competition with less sensitive species. This is an important topic because it is quite likely that
competition exacerbates effects of ozone on sensitive species of vegetation (see issue "competition").

Page 5-5, Figure 5-1 and text. The figure legend should clarify that these C-R functions are based on data
from seedlings, not from mature trees. There should also be  more discussion of the issue of scaling from
seedlings and saplings to mature trees. Previous versions of the ISA (or rather, criteria documents)
covered this issue in some detail.

Page 5-8 and 5-9. For each species,  it would be helpful to add a map of the change in biomass loss with
the rollback to current and proposed standards.

Page 5-12, Table 5-3 (and elsewhere). There are problems with interpreting the proportion of RBL at the
current standard. It would be clearer to present the change in RBL due to meeting the current and
alternate proposed standards.

Page 5-13, Figure 5-7. Individual  species responses should be presented separately on this figure, not
combined, and letters should be used to indicate the individual species. Combining the 11  species gives
the false impression of a modest overall effect, while actually there are very large effects for some
species (see issue "sensitive"). Furthermore, the text should  analyze and discuss effects on different
regions, not just an average response across all grid cells (see issue "regions").

Page 5-16 and 5-17, Figures 5-9 and 5-10. I don't know what this figure is supposed to represent,
although I understand how the calculation was done (importance value * RBL). It  does indicate areas
with high importance values and high RBL values,  but to what purpose? Elimination of sensitive species
where they are not common (thus have a low importance value) might have very important ecological
impacts. If the purpose is to combine for all (or for  the most common) species to estimate  stand-level
RBL,  then the approach is not valid. As shown in several modeling studies for forests (and experimental
studies for herbaceous species), competition in mixed species stand means that the total stand RBL will
be much less than the RBL for sensitive species. At the same time, effects on sensitive species are likely
to be greater due to increased competition from less sensitive species (see issue "competition").

Page 5-17. This analysis is biased, because it implicitly assumes that all species other than the 11 with C-
R functions have no response to ozone, which is not a valid assumption. This bias  varies among cells in
the map. This bias is stated in the text, but that does not eliminate the bias, nor solve the issue that the
bias varies across the map.


                                             B-92

-------
Page 5-17. What is the rationale for excluding the most sensitive species (Eastern Cottonwood)?

Page 5-22, Figure 5-15. This figure is not well designed, the Class 1 areas are difficult to see and the
exposure values are not clear. I suggest using black for the Class 1 areas, using light grey for the  state
boundaries, and using inset colored circles to show the W126 exposure values.

Page 5-14, line 14. For this analysis, rather than an arbitrary value of W126 of 10, use cutoff values that
are relevant to the proposed alternate standards.

Page 5-23. Table 5-4.  In the left-most column of this table and elsewhere in this and other tables, align
numbers on the decimal point.

Page 5-31, Figure 5-19 (and subsequent similar figures). Remove title from top of figure. Add some
"base map" information for orientation, such as State boundaries, major highways, and major towns near
the Park. Spell out abbreviations in all figure titles (such as GSMNP).

Page 5-33. See previous comments on methodological problems with this "scaled" approach.

Page 5-39, Table 5-7.  Why was the "moderate" risk class used by Kohut not included here? It is
discussed in the text, but should be included in the table. Also, please clarify how and why the ratings
differ from those by Kohut.

There needs to be more discussion of how to interpret these risk classes. Actually, it would be more
useful if possible to develop more quantitative risk characterization, such as predicted percentage of
species with foliar damage and degree of foliar injury.

Page 5-44. This document should review the results of field studies (key older ones with more attention
to newer ones) and results of USD A Forest Service foliar injury assessments.
Comments on Chapter 6 - Ecosystem Services

13.    To what extent does the Panel find that EPA has adequately characterized the range of ecosystem
services that are potentially adversely affected by O3?

Much more attention should be paid in the WREA (and the PA) to crop yield loss. There is strong
evidence that common crops have substantial yield loss. This is a critically important provisioning service.
Effects on sensitive crops such as soybean should be analyzed in detail in the WREA at the same level of
detail as currently provided for individual tree species (see issue "crops).

Also, it is very important to include yield loss due to ozone as an adverse effect for farmers in regions of
high ozone exposure (see issue "regions"). Such analysis would provide a firm basis for estimating
adverse welfare effects. It is inadequate to analyze only sector-wide economic effects of reduced crop
yield due to ozone, as is currently done using FASOM-GHG. The sector-wide approach is inadequate
because it does not account for yield and income loss experienced by farmers in areas with elevated
ozone. Such effects are real and cannot be "averaged out" by counting potential increases in the price of

                                             B-93

-------
 soybean, because such increases will go primarily to farmers in low-ozone areas. In other words, even if
 there is only a modest "net" effect of ozone on net producer income in the USA overall, there is still an
 adverse effect on many farmers in areas with elevated ozone. Ozone is causing a shift of income from
 farmers in higher ozone regions to those in lower ozone regions. Additionally, soybeans are a global
 commodity, and reduced yields in the US due to ozone decrease the competitiveness of US farmers
 compared to farmers in other countries with lower ozone levels.

 14.    To what extent does the Panel agree with EPA 's ecosystem services framework, connecting O3
 exposure, through ecological effects to ecosystem services?

 15.     Does the panel agree with EPA 's use of combined O3 exposure data with other data sources (e.g.
fire data, bark beetle maps, trail maps)  to link areas of concern or interest with areas of higher vegetative
 risk due to O3? Does the Panel have any recommendations for additional datasets and ecosystem services
 that could add to or improve these analyses?

 The approach is conceptually sound.  However, because effects of ozone  on so few services can be
 analyzed quantitatively, these sections  should be much shorter, as discussed elsewhere in my comments.

 16.    Regarding the analysis of forest yield impacts:
 a.      To what extent does the Panel agree that the Forest and Agricultural Sector Optimization Model
 (FASOM) model is appropriate to assess timber and crop yield changes and the effects of those changes on
 additional ecosystem services?

 There are serious shortcomings with the endpoints used in this analysis, and in the inability of this
 approach to account for competition among species and to account for scaling from seedlings to mature
 trees. Please see my detailed comments elsewhere.

 b.      What are the views of the Panel on the extrapolation of concentration-response functions across
 similar species?

 In general, such  an approach is reasonable, but it must be based on physiological and other biophysical
 similarities among species, not just economic groupings. Please see detailed comments elsewhere.

 [The appendix detailing the FASOM analysis will be submitted for review in August]

 While much of this chapter is useful, well written, and appropriate, there are serious deficiencies due to
 the narrow focus on Class 1 areas and on selected tree species. Correcting these deficiencies will require
 modest expansion of the WREA to include analysis of effects on the yields of sensitive crops in order to
 appropriately address adverse welfare effects  (see issue "crops"). Such expansion can be done based on
 methods and analyses already completed.

 Additional analysis of effects on crop yield must be included, as discussed in my comments elsewhere
 including for the PA. Discussion of FASOM-GHG and i-Tree analyses should only be included if they
 are appropriate and robust, and should  be reviewed by this panel. Page A-41 (WREA Appendix)
 indicates that ozone exposure-response functions for tree seedlings were used to calculate RYLs over
 their whole life span. Scaling effects from seedlings to mature trees is an important topic that has

                                             B-94

-------
received substantial attention in the literature as summarized in previous EPA documents for previous
ozone standard reviews (see issue "scaling"). Similarly, competition among tree species that differ in
ozone sensitivity in mixed-species stands is expected to greatly alter how ozone affects the growth of an
individual species (see issue "competition").

Page A-42 (WREA Appendix) indicates that yield is compared to a "clean air" background, and that
relative yield gains of crops and trees is assumed to be zero at ambient ozone. It is not clear to me what
this means, is it assumed that ambient ozone is not currently affecting crop and tree growth? See issue
"background". This is not supported by the evidence. Furthermore apparently only sectoral net results
are calculated for consumers and producers. As discussed further in my comments to the PA (Chapter 7),
such analysis does not account for the individual producers some of whom will be winners and some of
whom will be losers.  The evidence strongly suggests that ambient ozone exposure in many locations and
years is causing yield loss of sensitive crops and trees.  In such locations, producers (and perhaps
consumers) will be losing income due to ozone, and that is an adverse effect on them, even if producers
in other regions are gaining income (see issues "crops" and "regions". The results of the FASOM
modeling may be useful, but effects on sensitive crop and tree species in higher ozone regions should
also be quantified in addition to sector-wide economic impacts.

17.    Regarding the analysis of urban forest impacts:
a.     To what extent does the Panel feel that the i-Tree model is appropriate for assessing changes to
urban forest ecosystem services based on O3 exposure?

There are problems with this analysis, including scaling from seedlings to mature trees (see issue
"scaling"), and the need for clarification about how robust the predictions of i-Tree are for specific
endpoints. Please see  additional comments elsewhere.

b.     In  order to increase the number of tree species covered by the iTree model, does  the Panel have
recommendations for additional species that could be included, based on estimates from similar species?

[The appendix detailing the i-Tree analysis will be submitted for review in August]

18.    Regarding the use ofPnET-CN:
a.     What are the views of the Panel on the potential use of the PnET-CN model in the 2nd draft to
assess impacts on larger scale ecosystem services (e.g. hydrologic changes, c sequestration)?

As far as I am aware, this model uses a "big leaf approach to modeling canopy processes. This approach
cannot account for the competitive interactions among ozone sensitive and less ozone sensitive species in
mixed species forests, which are very common in the Eastern USA. Without inclusion of such processes,
and without data to parameterize the responses of mature trees and forest stands to ozone, it is not clear
how robust predictions from this model will be for hydrological processes or for carbon sequestration.
See issues "scaling" and "competition".

b.     Does the Panel have recommendations of other  models that are accessible to EPA
that could be used instead of PnET-CN?
                                             B-95

-------
The ISA does cite some literature using combinations of whole-tree models and stand-level models to
address these issues. For example, the individual tree model TREGRO and the forest stand model ZELIG
have been used previously to scale effects of ozone on net photosynthesis to mixed-species forest stands.
Such models could be used, or at least more attention  could be paid to publications that have already
performed such analyses for some regions. I have provided such citations in the past, and they have also
been cited in previous EPA analyses, but I am glad to provide such references again upon request.
19.     Regarding ecosystem services related to foliar injury:
a.      To what extent does the Panel agree that potential visible foliar injury is appropriate to use as a
metric to assess potential loss of cultural services associated with recreation in national parks?

This metric is appropriate.

b.      Does the Panel feel that there are O3 benchmarks that could be used to assess changes in foliar
injury potential between exposure scenarios similar to those used by Kohut (2007)?

Comments for specific page and line numbers:

NOTE: Page and line numbers may not match the most recent draft, because I had already
completed my (hand written) notes before the newer version became available.

Page 6-3, Table 6-1. Change "ruffled" to "ruffed".

Page 6-6, line 20-21. Clarify that effects on food and timber production can be quantified via
measurements and modeling. This is a major deficiency of this document that should be changed.

NOTE: Page and line numbers below are based on the most recent draft.

Page 6-8, para 1. The numbers in the text don't seem to match those in Table 6-2.

Page 6-8, Table 6-2. What is the basis for the "Forest Management" values in this table? See previous
comments about the need to model competition among ozone sensitive species and less sensitive species
in mixed-species stands.

Page 6-9. Line 6. Much more important sources of uncertainty are due to not accounting for (1) effects of
ozone on competition among ozone  sensitive species and less sensitive species in mixed-species stands
(see issue "competition") and (2) scaling from tree seedlings to mature trees (see issue "scaling").

Page 6-12, Figure 6-1.1 can't see the W126 values on this map, and suggest using a separate panel to do
so.

Page 6-13, Effects on crops must be included as part of this assessment!  See comments above under
Question 13.

Page 6-14, Table 6-3. The FASOMGHG regions are not very meaningful without a map.

                                             B-96

-------
Page 6-16, line 10. Change "form' to "from".

Page 6-18, first para. By this logic, increased ozone concentrations create a benefit. Although I understand
the rationale, this does not make sense; see comments for Question 13 above.

Page 6-21, Figure 6-4. Add legend to figure.

Page 6-26, line 13. "751 m" - what does this mean?

Page 6-34, last para. The WREA should allocate more effort and length to aspects/endpoints that can be
quantified. A short section (a few pages) can mention other aspects that cannot be quantified, but should
not be so long.

Page 6-36, line 8. Change "Smokey" to Smoky" throughout all documents.

6-47. See comments elsewhere about the need to account of ozone effects on competition among ozone-
sensitive and less sensitive species. See also comments elsewhere about FASOM analyses.

Page 6-48, Table 6-25. Add column header for Column 1 (perhaps it is rank by basal area, or count, or
Page 6-49, Table 6-26. Does the base case mean zero effect of ozone on carbon sequestration? How are
growth rates modeled, is the effect of ozone implicitly included in such modeling, if it is based on
statistical measures of growth?

6-50. How robust are these predictions of tons of air pollutants removed? Which air pollutants? In general,
for the i-Tree, FASOM, and other modeling analyses, more analysis of how robust the predictions are
would be helpful.
Comments for Appendix 6-A (15Augl2 version)

Page 6A-39, line 29. Clarify which years were used, etc.

Page 6A-40, lines 8 and 19. How do these C-R functions relate to those used elsewhere in the WREA? If
they are the same, why is a 2007 document cited? If they are different, why?

Page A-40, Table 14.1 don't know what rationale was used to assume that sugar beets respond to ozone
similarly to sorghum and hay. Similarly, why is canola assumed to be similar to soybean? Perhaps these
are groupings for economic reasons, because they don't seem to be groupings based on the taxonomy or
physiology of the species. Data on the ozone sensitivity of related crops should be used for such
groupings.

Page 6A-41. Ozone exposure-response functions for tree seedlings were used to calculate RYLs over
their whole life span. Scaling effects from seedlings to mature trees is an important topic that has

                                            B-97

-------
received substantial attention in the literature as summarized in previous EPA documents for previous
ozone standard reviews. Similarly, competition among tree species that differ in ozone sensitivity in
mixed-species stands is expected to greatly alter how ozone affects the growth of an individual species
(see issue "competition").

Page 6A-42. See comments above under Question 16.

Page 6A56. See previous comments herein and for the PA about the inadequacy of examining only net
changes in sectoral income for producers and consumers.

Page 6A56, Table 23. What assumptions are made regarding international trade? If ozone causes reduced
yields in the US, would that reduce the ability to compete with Brazilian (or other) soybean production
that might have lower ozone levels and thus higher production?
Comments on Chapter 7 - Synthesis

20.    To what extent does the Panel find the synthesis to be a useful integration and summarization of
key results and insights regarding the overall welfare exposure and risk analysis?

The synthesis should include discussion and quantification of crop yield loss due to ozone, as discussed in
comments above. This is an important topic that must be addressed thoroughly in the WREA and carried
into the PA.

Comments for specific page and line numbers:

Page 2, line 26. A few sentences should be added to put these results in context.


Page 3, line 12. A few sentences should be added to put these results in context.

Page 3, last para. Effects on crop yield should be included here,  see previous comments.

Page 4, line 6-9. Misleading, see previous comments. Effects on individual species are also important, not
just all 11 species together. Effects on mature trees, as opposed to seedlings are important. Effects on
competition among ozone-sensitive and less  sensitive species are very likely to be important.

Page 4, line 24. A few sentences should be added to put these results in context.

Page 7, lines 5-7. The USDA Forest Service  Forest Health Monitoring data are very important and should
definitely be included.
                                             B-98

-------