UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
                         WASHINGTON, D.C. 20460
                               "'"         OSWER DIRECTIVE # 9285.7-16

-^                                                          OFFICEOF
                                                       SOLO WASTE AND EMERGENCY
MEM01AHDTOI                                                 RESPONSE
SUBJECT:   Use of IRIS Values in Superfund RiskAssessment
 FROM:      William H. Farland, Director
           Office of Health and Environmental. Assessment

           Henry L. Longest II, Director
           Office of Emergency and Remedial

 TOs        Directors, Waste Management Division
                Region I, IV, V, VII, VIII
           Director, Emergency and Remedial  Response Division
                Region II
           Directors, Hazardous Waste Management Division
                Regions III, VI, IX
           Directors, Hazardous Waste Division
                Region X

 PURPOSE                     -
                           f
     This memorandum clarifies the policy stated at section 7.4.1
 of the December 1988 Risk Assessment Guidance for Superfund
 (Volume  I)  Human Health Evaluation Manual  (Part A)(RAGS) on the
 use of Integrated Risk Information System  (IRIS)  values in
 performing health risk assessments.  Recent litigation has called
 attention to the need for all persons involved in the Superfund
 risk assessment and remedy selection processes to be fully aware
 of the role of IRIS values in those processes.

 BACKGROUND

     As  indicated in RAGS, the Agency generally recommends IRIS
 as the principal source for toxicological data in preparing
 Superfund risk assessments.  IRIS represents an Agency consensus
 as to appropriate values for a wide variety of chemicals commonly
 found at Superfund sites.  The Agency believes IRIS is a valuable
 tool for expediting the assessment of risks posed by sites.  IRIS
 values do not always undergo external peer  review.   However, IRIS
 values consistently undergo some type of peer review within the
 Agency and are often used in Agency rulemaking activities.  Use
 of IRIS  values avoids duplication and enhances consistency among
 Superfund risk assessments.
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                                                                           if,
     At the  same time,  IRIS  is not the only source of
toxicological  information, and in some cases more recent,                   *
credible and relevant data may come to the Agency's attention.              j
In particular, toxicological  information other than that in IRIS            I
may be brought to the Agency  by outside parties.  Such
information  should be considered along with the data in IRIS in
selecting toxicological values? ultimately, the Agency should
evaluate risk  based upon its  best scientific judgment and
consider all credible and relevant information available to it.

IMPLEMENTATION

     As indicated in the preamble to the NCP, the Agency must
respond substantively to any  comments raised during the public
comment period on the proposed plan that question the use of an
IRIS value? see 55 FR 8711 (March 8, 1990).*  In responding to
such comments, Agency staff should keep in mind that the entry of
a value in IRIS is not a rulemaking.  Thus, the entry of a value
on IRIS does not make the number legally binding (i.e., the value
is not entitled to conclusive weight) for the purposes of
Superfund risk assessments.   When a toxicological value is
questioned in  a comment on the proposed plan, a written
explanation for the value ultimately selected (whether it is the
IRIS value or  another number) must be included in the
administrative record.2

     The weight to be given information from sources other than
IRIS will necessarily have to be determined on a case-by-case
basis.  When presented with alternative toxicological information
that might be  used in place of IRIS values, the Agency will
consider all credible and relevant information before it.  The
evaluation of  credible and relevant information should consider a
variety of factors in evaluating the hazards associated with
chemical exposure including:  whether the study was designed
using approved protocols and  whether it was conducted observing
good laboratory practices.  In addition,  the Agency wishes to
avoid duplicating work that was done in developing the IRIS
value.  Thus,  the work of the IRIS Workgroup may be a source of
     xSuch information may also be submitted by outside parties
earlier in the process, such as during the workplan development
phase of the baseline risk assessment.  While EPA is not required
to respond at that time, timely evaluation of such information
can be more efficient than addressing issues only when they are
raised during the public comment period.

     2For assistance in evaluating such information,  regional
managers should contact the appropriate regional scientist and,
secondarily, the technical contacts listed in IRIS.  For further
general information, contact the IRIS Risk Information Hotline at
(513) 569-7254.

December 21, 1993                                          Pa
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information that will aid in explaining the Agency's rationale
that supports a toxicological value.  Accordingly, while all
credible and relevant information must be considered, departing
from the IRIS value is generally discouraged where the
information submitted consists of data previously evaluated in
developing that value.  In the event that the Agency determines
that an IRIS value should be replaced with another value, the
Toxics Integration Branch of the Office of Emergency and Remedial
Response will work with both the Office of Research and
Development and the Regions to promote the consistent use of
toxicological values for the Superfund program in all Regions.

     Finally, those using values from IRIS are reminded that
toxicological values are subject to varying degrees of
uncertainty, for a variety of reasons, and that the existence of
such uncertainty should be taken into account in preparing site
specific risk analyses.  Further guidance in this regard can be
found at section 7.6 of RAGS, and in the Deputy Administrator's
February 26, 1992 memorandum entitled "Guidance on Risk
Characterization for Risk Managers and Risk Assessors."
December 21, 1993
Page 3

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