EPA Document # 740-D-20-002
April 2020
United States Office of Chemical Safety and
Environmental Protection Agency Pollution Prevention
Draft Scope of the Risk Evaluation for
/7-Dichlorobenzene
CASRN 106-46-7
// %
April 2020
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TABLE OF CONTENTS
TABLE OF CONTENTS 2
LIST OF TABLES 4
LIST OF FIGURES 4
LIST OF APPENDIX TABLES 4
ACKNOWLEDGEMENTS 5
ABBREVIATIONS AND ACRONYMS 6
EXECUTIVE SUMMARY 10
1 INTRODUCTION 13
2 SCOPE OF THE EVALUATION 13
2.1 Reasonably Available Information 13
2.1.1 Search of Gray Literature 14
2.1.2 Search of Literature from Publicly Available Databases (Peer-Reviewed Literature) 15
2.1.3 Search of TSCA Submissions 21
2.2 Conditions of Use 22
2.2.1 Categories and Subcategories of Conditions of Use Included in the Scope of the Risk
Evaluation 22
2.2.2 Activities Excluded from the Scope of the Risk Evaluation 25
2.2.3 Production Volume 25
2.2.4 Overview of Conditions of Use and Lifecycle Diagram 26
2.3 Exposures 28
2.3.1 Physical and Chemical Properties 28
2.3.2 Environmental Fate and Transport 28
2.3.3 Releases to the Environment 28
2.3.4 Environmental Exposures 30
2.3.5 Occupational Exposures 30
2.3.6 Consumer Exposures 31
2.3.7 General Population Exposures 32
2.4 Hazards (Effects) 32
2.4.1 Environmental Hazards 32
2.4.2 Human Health Hazards 32
2.5 Potentially Exposed or Susceptible Subpopulations 32
2.6 Conceptual Models 33
2.6.1 Conceptual Model for Industrial and Commercial Activities and Uses: Potential Exposures
and Hazards 33
2.6.2 Conceptual Model for Consumer Activities and Uses: Potential Exposures and Hazards.... 35
2.6.3 Conceptual Model for Environmental Releases and Wastes: Potential Exposures and
Hazards (Regulatory Overlay) 37
2.6.3.1 Ambient Air Pathway 39
2.6.3.2 Drinking W ater Pathway 39
2.6.3.3 Ambient Water Pathway 39
2.6.3.4 Disposal and Soil Pathways 40
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2.6.4 Conceptual Model for Environmental Releases and Wastes: Potential Exposures and
Hazards 41
2.7 Analysis Plan 43
2.7.1 Physical and Chemical Properties and Environmental Fate 43
2.7.2 Exposure 43
2.7.2.1 Environmental Releases 44
2.7.2.2 Environmental Exposures 46
2.7.2.3 Occupational Exposures 47
2.7.2.4 Consumer Exposures 48
2.7.2.5 General Population 50
2.7.3 Hazards (Effects) 50
2.7.3.1 Environmental Hazards 50
2.7.3.2 Human Health Hazards 51
2.7.4 Summary of Risk Approaches for Characterization 53
2.8 Peer Review 54
REFERENCES 55
APPENDICES 62
Appendix A LIST OF GRAY LITERATURE SOURCES 62
Appendix B Physical and Chemical Properties of />-Dichlorobenzene 66
Appendix C ENVIRONMENTAL FATE AND TRANSPORT PROPERTIES 68
Appendix D REGULATORY HISTORY 70
D.l Federal Laws and Regulations ,..,....70
D.2 State Laws and Regulations 77
D.3 International Laws and Regulations 80
Appendix E PROCESS, RELEASE AND OCCUPATIONAL EXPOSURE INFORMATION.. 82
E.l Process Information 82
E.l.l Manufacture (Including Import) 82
E.l.1.1 Import 82
E.1.2 Processing and Distribution 82
E.l.2.1 Processing as a Reactant or Intermediate 82
E.l.2.2 Incorporated into a Formulation, Mixture or Reaction Product 82
E.l.2.3 Incorporated into an Article 83
E.1.3 Uses 83
E.l.3.1 Building/Construction Materials 83
E.l.3.2 Lubricants and Greases 83
E.l.3.3 Air Care Products 84
E.l.3.4 Automotive Care Products 84
E.l.3.5 Other Uses 85
E.1.4 Disposal 85
E.2 Preliminary Occupational Exposure Data. ....................86
Appendix F SUPPORTING INFORMATION - CONCEPTUAL MODEL FOR INDUSTRIAL
AND COMMERCIAL ACTIVITIES 87
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Appendix G SUPPORTING INFORMATION - CONCEPTUAL MODEL FOR CONSUMER
ACTIVITIES/USES 97
Appendix II SUPPORTING INFORMATION - CONCEPTUAL MODEL FOR
ENVIRONMENTAL RELEASES AND WASTES 99
LIST OF TABLES
Table 2-1. Results of Title Screening of Submissions to EPA under Various Sections of TSCAa 22
Table 2-2. Categories and Subcategories of Conditions of Use Included in the Scope of the Risk
Evaluation 23
Table 2-3. Summary of/>Dichlorobenzene TRI Production-Related Waste Managed in 2018 29
Table 2-4. Summary of Releases of /?-Dichlorobenzene to the Environment During 2018 29
Table 2-5. Categories and Sources of Environmental Release Data 44
Table 2-6. Potential Sources of Occupational Exposure Data 47
LIST OF FIGURES
Figure 2-1. Gray Literature Tag Results by Discipline for/>-Dichlorobenzene 14
Figure 2-2. Peer-reviewed Literature- Physical-Chemical Properties Search Results for 17
Figure 2-3. Peer-reviewed Literature - Fate and Transport Search Results for p-Dichlorobenzene 18
Figure 2-4. Peer-reviewed Literature - Engineering Search Results for /;-Dichlorobenzene 19
Figure 2-5. Peer-reviewed Literature Exposure Search Results for /;-Dichlorobenzene 20
Figure 2-6. Peer-reviewed Literature- Hazard Search Results for /;-Dichlorobenzene 21
Figure 2-7. /?-Dichlorobenzene Life Cycle Diagram 27
Figure 2-8, /;-Dichlorobenzene Conceptual Model for Industrial and Commercial Activities and Uses:
Worker and Occupational Non-User Exposures and Hazards 34
Figure 2-9, /;-Dichlorobenzene Conceptual Model for Consumer Activities and Uses: Consumer
Exposures and Hazards 36
Figure 2-10, /;-Dichlorobenzene Conceptual Model for Environmental Releases and Wastes:
Environmental and General Population Exposures and Hazards (Regulatory Overlay) ..38
Figure 2-11. p-Dichlorobenzene Conceptual Model for Environmental Releases and Wastes:
Environmental and General Population Exposures and Hazards 42
LIST OF APPENDIX TABLES
TableApx A-l. Gray Literature Sources that yielded results for /;-Dichlorobenzene 62
TableApx B-l. Physical and Chemical Properties of/?-Dichlorobenzene 66
Table Apx C-l. Environmental Fate Characteristics of/>-Dichlorobenzene 68
Table_Apx D-l. Federal Laws and Regulations 70
Table_Apx D-2. State Laws and Regulations 77
Table Apx D-3. Regulatory Actions by Other Governments, Tribes, and International Agreements 80
Table Apx E-l. Summary of Industry Sectors with /;-Dichlorobenzene Monitoring Samples Available
from OSHA Inspections Conducted Between 2010 and 2019 86
Table Apx E-2. Summary of NIOSH HHEs with Monitoring for/?-Dichlorobenzene a 86
Table Apx F-l. Worker and Occupational Non-User Exposure Conceptual Model Supporting Table.. 87
Table Apx G-l. Consumer Exposure Conceptual Model Supporting Table 97
Table Apx H-l. General Population and Environmental Exposure Conceptual Model Supporting Table
99
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ACKNOWLEDGEMENTS
This report was developed by the United States Environmental Protection Agency (U.S. EPA), Office of
Chemical Safety and Pollution Prevention (OCSPP), Office of Pollution Prevention and Toxics (OPPT).
Acknowledgements
The OPPT Assessment Team gratefully acknowledges participation or input from Intra-agency
reviewers that included multiple offices within EPA, Inter-agency reviewers that included multiple
Federal agencies, and assistance from EPA contractors Abt Associates (Contract No. EP-W-16-009),
GDIT (Contract No. HHSN316201200013W), ERG (Contract No. EP-W-12-006), ICF (Contract No.
68HERC19D0003), SRC (Contract No. 68HERH19D0022), and Versar (Contract No. EP-W-17-006).
EPA also acknowledges the contributions of technical experts from EPA's Office of Research and
Development.
Docket
Supporting information can be found in public docket: IJHJH < T-2018-0462.
Disclaimer
Reference herein to any specific commercial products, process or service by trade name, trademark,
manufacturer or otherwise does not constitute or imply its endorsement, recommendation or favoring by
the United States Government.
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ABBREVIATIONS AND ACRONYMS
ng
Microgram(s)
AAL
Allowable Ambient Levels
AC
Acute concentration
ACGIH
American Conference of Government Industrial Hygienists
ADME
Absorption, Distribution, Metabolism, and Excretion
Apx
Appendix
AT SDR
Agency for Toxic Substances and Disease Registry
AUC
Area Under the Curve
AWQC
Ambient Water Quality Criteria
BAF
Bioaccumulation Factor
BCF
Bioconcentration Factor
BW3/4
Body weight scaling to the 3/4 power
CAA
Clean Air Act
CARB
California Air Resources Board
CASRN
Chemical Abstracts Service Registry Number
CBI
Confidential Business Information
CCD
Chemical Control Division
CCL
Contaminant Candidate List
CDC
Centers for Disease Control
CDR
Chemical Data Reporting
CEHD
Chemical Exposure Health Data
CERCLA
Comprehensive Environmental Response, Compensation and Liability Act
CFR
Code of Federal Regulations
ChemSTEER
Chemical Screening Tool for Exposure and Environmental Releases
COC
Concentration of Concern
CoRAP
Community Rolling Action Plan
COU
Conditions of Use
CPCat
Chemical and Product Categories
CPID
Consumer Product Information Database
CSCL
Chemical Substances Control Law
DHHS
Department of Health and Human Services
DMR
Discharge Monitoring Report
DNA
Deoxyribonucleic Acid
EC
Engineering controls
ECOTOX
ECOTOXicology knowledgebase
ED
Exposure duration
E-FAST
Exposure and Fate Assessment Screening Tool
E-FAST2
Exposure and Fate Assessment Screening Tool version 2
EPA
Environmental Protection Agency
EPCRA
Emergency Planning and Community Right-to-Know Act
EPI Suite™
Estimation Program Interface Suite™
EPS
Expanded Polystyrene
ERG
Eastern Research Group, Inc.
ESD
Emission Scenario Document
EU
European Union
FDA
Food and Drug Administration
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FF Far field
FYI For Your Information
g/L Gram(s) per Liter
HERO Health and Environmental Research Online
Hg Mercury
HHE Health Hazard Evaluation
HMTA Hazardous Materials Transportation Act
HPV High Production Volume
HQ Headquarters
HSDB Hazardous Substances Data Bank
HUC Hydrologic Unit Code
IA Indoor air
IARC International Agency for Research on Cancer
IECCU Indoor Environmental Concentrations in Buildings with Conditioned and
Unconditioned Zones
IMIS Integrated Management Information System
K Thousand
L Liter(s)
lb Pound
LC50 Lethal Concentration of 50% test organisms
LEV Local exhaust ventilation
LOAEL Lowest Observed Adverse Effect Level
LOEC Lowest Observed Effect Concentration
m Meter(s)
m3 Cubic Meter(s)
MACT Maximum Achievable Control Technology
MCL Maximum Contaminant Level
MCLG Maximum Contaminant Level Goal
mg Milligram(s)
mg/L Milligram(s) per Liter
mg/m3 Milligram(s) per cubic meter
mg/mL Milligram(s) per milliliter
mmHg Millimeter(s) of Mercury
MO A Mode of Action
MOE Margin of exposure
MRL Minimal Risk Level
n number
N/A Not Applicable
NHANES National Health and Nutrition Examination Survey
NICNAS National Industrial Chemicals Notification and Assessment Scheme (Australia)
NIH National Institutes of Health
NIOSH National Institute for Occupational Safety and Health
NITE National Institute of Technology and Evaluation
NOAEL No Observed Adverse Effect Level
NOEC No Observed Effect Concentration
NPDES National Pollutant Discharge Elimination System
NPDWR National Primary Drinking Water Regulations
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NPL
National Priorities List
NPRI
National Pollutant Release Inventory
NR
Not Reported
NRC
National Research Council
NSPS
New Source Performance Standards
NTP
National Toxicology Program
NWIS
National Water Information System
OCSPP
Office of Chemical Safety and Pollution Prevention
OECD
Organisation for Economic Co-operation and Development
OEHHA
Office of Environmental Health Hazard Assessment (California)
OEL
Occupational Exposure Limit
OES
Occupational Exposure Scenario
OLEM
Office of Land and Emergency Management
ONU
Occupational Non-User
OPPT
Office of Pollution Prevention and Toxics
ORD
Office of Research and Development
OSHA
Occupational Safety and Health Administration
OST
Office of Science and Technology
OSWER
Office of Solid Waste and Emergency Response
OW
Office of Water
P
Persistence
P-Chem
Physical Chemical Properties
PBPK
Physiologically Based Pharmacokinetic
PBT
Persistent, Bioaccumulative, Toxic
PECO
Population, Exposure, Comparator and Outcome
PEL
Permissible Exposure Limit
PESS
Potentially Exposed or Susceptible Subpopulation
POD
Point of Departure
POTW
Publicly Owned Treatment Works
PPE
Personal Protective Equipment
ppm
Part(s) per million
PS
Point Source
PV
Production Volume
PWS
Public Water System
QA
Quality Assurance
QC
Quality Control
QSAR
Quantitative Structure Activity Relationship
RA
Risk Assessment
RAD
Risk Assessment Division
RCRA
Resource Conservation and Recovery Act
REACH
Registration, Evaluation, Authorisation and Restriction of Chemicals (European
Union)
REL
Recommended Exposure Limit
RfC
Reference Concentration
RfD
Reference dose
RQ
Risk Quotient
SAB
Science Advisory Board
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SAR
Structure-activity relationship
SARA
Superfund Amendments and Reauthorization Act
SD
Standard deviation
SDS
Safety Data Sheet
SDWA
Safe Drinking Water Act
SIC
Standard Industrial Classification
SIDS
Screening Information Dataset
STEL
Short-term Exposure Limit
STORET
STORage and RETrieval (water quality data warehouse)
SVOC
Semivolatile Organic Compounds
SWC
Surface Water Concentration
T
Toxic (used with PBT)
TIAB
Title and Abstract
TLV
Threshold Limit Value
TRI
Toxics Release Inventory
TSCA
Toxic Substances Control Act
TTO
Total Toxic Organics
TWA
Time-weighted average
U.S.
United States
U.S.C.
United States Code
UCMR
Unregulated Contaminant Monitoring Rule
UIC
Underground Injection Control
US EPA
United States Environmental Protection Agency
USGS
United States Geological Survey
VOC
Volatile Organic Compound
VP
Vapor Pressure
WQP
Water Quality Portal
WQX
Water Quality Exchange
WWT
Wastewater Treatment
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EXECUTIVE SUMMARY
In December 2019, EPA designated/?-di chl orobenzene (CASRN 106-46-7) as a high-priority substance
for risk evaluation following the prioritization process required by Section 6(b) of the Toxic Substances
Control Act (TSCA) and implementing regulations (40 CFR Part 702) (Docket ID: EPA-HQ-OPPT-
2018-0462). The first step of the risk evaluation process is the development of the scope document, and
this document fulfills the TSCA regulatory requirement to issue a draft scope document as described in
40 CFR 702 The draft scope for/;-dichlorobenzene includes the following information: the
conditions of use, potentially exposed or susceptible subpopulations (PESS), hazards, and exposures that
EPA plans to consider in this risk evaluation, along with a description of the reasonably available
information, conceptual model, analysis plan and science approaches, and plan for peer review for this
chemical substance. EPA is providing a 45-day comment period on the draft scope. Comments received
on this draft scope document will help inform development of the final scope document and the risk
evaluation.
General Information. p-D\chl orobenzene is a colorless to white crystalline solid that is poorly soluble
in water but miscible in most organic solvents. It has a strong pungent odor. At ambient temperature, it
undergoes sublimation, passing directly from a solid directly to a vapor state. />-Dichlorobenzene has a
total production volume in the United States between 50 to 100 million pounds.
Reasonably Available Information. EPA leveraged the data and information sources already described
in the document supporting the High-Priority Substance designation for p-dichlorobenzene to inform the
development of this draft scope document. To further develop this draft scope document, EPA
conducted a comprehensive search to identify and screen multiple evidence streams (i.e., chemistry, fate,
release and engineering, exposure, hazard), and the search and screening results to date are provided in
Section 2.1. EPA is seeking public comment on this draft scope document and will consider additional
information identified following publication of this draft scope document, as appropriate, in developing
the final scope document. EPA is using the systematic review process described in the Application of
Systematic Review in TSCA Risk Evaluations document (U.S. EPA, 2018a) to guide the process of
searching for and screening reasonably available information, including information already in EPA's
possession, for use and inclusion in the risk evaluation. EPA is applying these systematic review
methods to collect reasonably available information regarding hazards, exposures, PESS, and conditions
of use that will help inform the risk evaluation for />di chl orobenzene.
Conditions of Use. EPA plans to evaluate manufacturing, including importing; processing; distribution
in commerce; industrial, commercial and consumer uses; and disposal of />di chl orobenzene in the risk
evaluation. p-D\chl orobenzene is manufactured (including imported) in the United States. The chemical
is processed as a reactant, incorporated into formulation, mixture or reaction products and incorporated
into articles. The identified processing activities also include recycling of />di chl orobenzene. Several
industrial and commercial uses were identified that ranged from use in plastic material and resin
manufacturing to use in odor agents and deodorizers. Consumer uses were reported in air care products,
automotive care products and building and construction products. EPA identified these conditions of use
from information reported to EPA through Chemical Data Reporting (CDR) and Toxics Release
Inventory (TRI) reporting, published literature, and consultation with stakeholders both for uses
currently in production and uses whose production may have ceased. EPA is aware of information
reporting use of />di chl orobenzene in pesticides; however, they are not conditions of use for the
chemical substance as defined in TSCA § 3(2) and (4). Section 2.2 provides details about the conditions
of use within the scope of the risk evaluation
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Conceptual Models. The conceptual models for /;-dichlorobenzene are presented in Section 2.6.
Conceptual models are graphical depictions of the actual or predicted relationships of conditions of use,
exposure pathways (e.g., media), exposure routes (e.g., inhalation, dermal, oral), hazards, and receptors
throughout the life cycle of the chemical substance. EPA plans to focus the risk evaluation for p-
dichlorobenzene on the following exposures, hazards, and receptors with the understanding that updates
may be made in the final scope document after consideration of public comments and completion of the
systematic review data collection phase.
Exposures (Pathways and Routes), Receptors and PESS. EPA plans to analyze both human and
environmental exposures and releases to the environment resulting from the conditions of use of
/;-dichlorobenzene that EPA plans to consider in risk evaluation. Exposures forp-
dichlorobenzene are discussed in Section 2.3. Additional information gathered through
systematic review searches will also inform expected exposures.
EPA's plan as to evaluating environmental exposure pathways consider whether and how other
EPA administered statues and regulatory programs address the presence of />dichlorobenzene in
media pathways falling under the jurisdiction of those authorities. Section 2.6.3 discusses those
pathways that may be addressed pursuant to other Federal laws. In Section 2.6.4, EPA presents
the conceptual model describing the identified exposures (pathways and routes), receptors and
hazards associated with the conditions of use of within the scope of the risk
evaluation.
EPA plans to evaluate the following human and environmental exposure pathways, routes,
receptors and PESS in the scope of the risk evaluation. However, EPA plans to consider
comments received on this draft scope and other reasonably available information when
finalizing this scope document, and to adjust the exposure pathways, exposure routes and
hazards included in the scope document as needed.
Occupational exposure pathways associated with industrial and commercial
conditions of use: EPA plans to evaluate exposures to workers and/or occupational
non-users via the inhalation route and exposures to workers via the dermal route
associated with the manufacturing, processing, use or disposal of />dichlorobenzene
(Section 2.2.1).
Consumer and bystander exposure pathways associated with consumer conditions of
use: EPA plans to evaluate inhalation and dermal exposure to />dichlorobenzene
when consumers are handling automotive care products and plastic and rubber
products.
- Receptors and PESS: EPA plans to evaluate children, women of reproductive age
(including, but not limited to, pregnant women), workers and consumers as receptors
and PESS in the risk evaluation.
Environmental exposure pathways: EPA plans to evaluate exposure to p-
dichlorobenzene for aquatic and terrestrial receptors (biota).
Hazards. Hazards for /;-dichlorobenzene are discussed in Section 2.4. EPA completed
preliminary reviews of information from peer-reviewed assessments and databases to identify
potential environmental and human health hazards for /;-dichlorobenzene as part of the
prioritization process. Environmental hazard effects were identified for aquatic and terrestrial
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organisms. Information collected through systematic review methods and public comments may
identify additional environmental hazards that warrant inclusion in the environmental hazard
assessment of the risk evaluation.
EPA will use systematic review methods to evaluate the epidemiological and toxicological
literature for /;-dichlorobenzene. Relevant mechanistic evidence will also be considered, if
reasonably available, to inform the interpretation of findings related to potential human health
effects and the dose-response assessment. EPA plans to evaluate all of the potential human
health hazards for /;-dichlorobenzene identified in Section 2.4.2. The broad health effect
categories include reproductive and developmental, immunological, nervous system, irritation
effects, genotoxicity, carcinogenicity and ADME (absorption, distribution, metabolism, and
excretion).
Analysis Plan. The analysis plan for />dichlorobenzene is presented in Section 2.7. The analysis plan
outlines the general science approaches that EPA plans to use for the various information streams (i.e.,
chemistry, fate, release and engineering, exposure, hazard) supporting the risk evaluation. The analysis
plan is based on EPA's knowledge of />dichlorobenzene to date which includes a partial, but ongoing,
review of identified information as described in Section 2.1. EPA will consider new information
submitted by the public. Should additional data or approaches become reasonably available, EPA may
update its analysis plan in the final scope document.
EPA will seek public comments on the systematic review methods supporting the risk evaluation forp-
dichlorobenzene, including the methods for assessing the quality of data and information and the
approach for evidence synthesis and evidence integration supporting the exposure and hazard
assessments. The details will be provided in a supplemental document that EPA anticipates releasing for
public comment prior to the finalization of the scope document.
The analysis plan is based on EPA's knowledge of/>dichlorobenzene to date which includes a partial,
but ongoing, review of identified information as described in Section 2.1. EPA plans to continue to
consider new information submitted by the public. Should additional data or approaches become
reasonably available, EPA may update its analysis plan in the final scope document.
Peer Review. The draft risk evaluation for /;-dichlorobenzene will be peer reviewed. Peer review will be
conducted in accordance with relevant and applicable methods for chemical risk evaluations, including
using EPA's Peer Review Handbook and other methods consistent with Section 26 of TSCA (See 40
CFR 702.451
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1 INTRODUCTION
This document presents for comment the scope of the risk evaluation to be conducted for p-
dichlorobenzene under the Frank R. Lautenberg Chemical Safety for the 21st Century Act. The Frank R.
Lautenberg Chemical Safety for the 21st Century Act amended the Toxic Substances Control Act
(TSCA), the Nation's primary chemicals management law, on June 22, 2016. The new law includes
statutory requirements and deadlines for actions related to conducting risk evaluations of existing
chemicals.
Under TSCA § 6(b), the Environmental Protection Agency (EPA) must designate chemical substances
as high-priority substances for risk evaluation or low-priority substances for which risk evaluations are
not warranted at the time, and upon designating a chemical substance as a high-priority substance,
initiate a risk evaluation on the substance. TSCA § 6(b)(4) directs EPA risk evaluations for existing
chemicals, to "determine whether a chemical substance presents an unreasonable risk of injury to health
or the environment, without consideration of costs or other non- risk factors, including an unreasonable
risk to a potentially exposed or susceptible subpopulation identified as relevant to the risk evaluation by
the Administrator under the conditions of use."
TSCA § 6(b)(4)(D) and implementing regulations require that EPA publish the scope of the risk
evaluation to be conducted, including the hazards, exposures, conditions of use and PESS that the
Administrator expects to consider, within 6 months after the initiation of a risk evaluation. In addition, a
draft scope is to be published pursuant to 40 CFR 702.41. In December 2019, EPA published a list of 20
chemical substances that have been designated high priority substances for risk evaluations (Docket ID:
EPA-HQ-OPPT-2018-0446), as required by TSCA § 6(b)(2)(B), which initiated the risk evaluation
process for those chemical substances. />Dichlorobenzene is one of the chemicals designated as a high
priority substance for risk evaluation.
2 SCOPE OF THE EVALUATION
2.1 Reasonably Available Information
EPA conducted a comprehensive search for reasonably available information^ to support the
development of this draft scope document for /;-dichlorobenzene. EPA leveraged the data and
information sources already identified in the documents supporting the chemical substance's high-
priority substance designation. In addition, EPA searched for additional data and information on
physical and chemical properties, environmental fate, engineering, exposure, environmental and human
health hazards that could be obtained from the following general categories of sources:
1. Databases containing publicly available, peer-reviewed literature;
2. Gray literature, which is defined as the broad category of data/information sources not found in
standard, peer-reviewed literature databases.
3. Data and information submitted under TSCA Sections 4, 5, 8(e), and 8(d), as well as "for your
information" (FYI) submissions.
[1] Reasonably available information means information that EPA possesses or can reasonably generate, obtain, and
synthesize for use in risk evaluations, considering the deadlines specified in TSCA Section 6(b)(4)(G) for completing such
evaluation. Information that meets the terms of the preceding sentence is reasonably available information whether or not the
information is confidential business information, that is protected from public disclosure under TSCA Section 14 (40 CFR
702.33).
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Following the comprehensive search, EPA performed a title and abstract screening to identify
information potentially relevant for the risk evaluation process. This step also classified the references
into useful categories or tags to facilitate the sorting of information through the systematic review
process. The search and screening process was conducted based on EPA's general expectations for the
planning, execution and assessment activities outlined in the Application of Systematic Review in TSCA
Risk Evaluations document (U.S. EPA, 2018a). EPA will publish supplemental documentation on the
systematic review methods supporting the p-dichlorobenzene risk evaluation to explain the literature and
screening process presented in this document in the form of literature inventory trees. Please note that
EPA focuses on the data collection phase (consisting of data search, data screening, and data extraction)
during the preparation of the TSCA scope document, whereas the data evaluation and integration stages
will occur during the development of the draft risk evaluation and thus are not part of the scoping
activities described in this document.
The subsequent sections summarize the data collection activities completed to date for the general
categories of sources and topic areas (or disciplines) using systematic review methods. EPA plans to
seek public comments on the systematic review methods supporting the risk evaluation forp-
dichlorobenzene upon publication of the supplemental documentation of those methods.
2.1.1 Search of Gray Literature
EPA surveyed the gray literature1 and identified 131 search results relevant to EPA's risk assessment
needs for /;-dichlorobenzene. Appendix A lists the gray literature sources that yielded 131 discrete data
or information sources relevant to p-dichlorobenzene. EPA further categorized the data and information
into the various topic areas (or disciplines) supporting the risk evaluation (e.g., physical chemistry,
environmental fate, ecological hazard, human health hazard, exposure, engineering) and the breakdown
is shown in Figure 2-1. EPA is currently identifying additional reasonably available information (e.g.,
public comments), and the reported numbers in Figure 2-1 may change.
Gray Literature Tags by Discipline
PDB
58/131
Physical.Chemical
Human.Health.Hazard
42/131
Exposure
Environmental.Hazard
Engineering
0 25 50 75 100
Percent Tagged (%)
Figure 2-1. Gray Literature Tag Results by Discipline for />-Dichlorobenzene
The percentages across disciplines do not add up to 100%, as each source may provide data or information for various topic
areas (or disciplines).
1 Gray literature is defined as the broad category of data/information sources not found in standard, peer-reviewed literature
databases (e.g., PubMed and Web of Science). Gray literature includes data/information sources such as white papers,
conference proceedings, technical reports, reference books, dissertations, information on various stakeholder websites, and
other databases.
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2.1.2 Search of Literature from Publicly Available Databases (Peer-Reviewed Literature)
EPA is currently conducting a systematic review of the reasonably available literature. This includes
performing a comprehensive search of the reasonably available peer review literature on physical-
chemical properties, environmental fate and transport, engineering (environmental release and
occupational exposure), exposure (environmental, general population and consumer) and environmental
and human health hazards of />dichlorobenzene. Eligibility criteria were applied in the form of PECO
(population, exposure, comparator, outcome) statements. Included references met the PECO criteria,
whereas excluded references did not meet the criteria (i.e., not relevant), and supplemental material was
considered as potentially relevant. EPA plans to analyze the reasonably available information identified
for each discipline during the development of the risk evaluation. The literature inventory trees depicting
the number of references that were captured and those that were included, excluded, or tagged as
supplemental material during the screening process for each discipline area are shown in Figure 2-2
through Figure 2-6. "TIAB" in these figures refer to "title and abstract" screening. Note that in some
figures the sum of the numbers for the various sub-categories may be larger than the broader category
because some studies may be included under multiple sub-categories. In other cases, the sum of the
various sub-categories may be smaller than the main category because some studies may not be depicted
in the sub-categories if their relevance to the risk evaluation was unclear.
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©
Bioconcentration, Biomagnification, etc.
©
Biodegradation
Hydrolysis
®
Photolysis
©
Sorption
©
Volatilization
©
Wastewater Treatment
©
Other
Figure 2-3. Peer-reviewed Literature - Fate and Transport Search Results for p-Dichlorobenzene
Included
O
TSCA Fate p-DCB (2020) Excluded
l109j
Supplemental
16
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Henry's law Constant
Vapor Pressure
Vapor Density
Viscosity
Retrieved for Full-text
Review
Included for Data
Extraction and Data
Evaluation
Dielectric Constant
181
Refractive Index
Total for TIAB:
P-Cliem
163
Supplemental Information
exclusion
Figure 2-2. Peer-reviewed Literature- Physical-Chemical Properties Search Results for
/j-Dichlorobenzene
17
-------
©
Bioconcentration, Biomagnification, etc.
©
Biodegradation
®
Hydrolysis
©
Photolysis
©
Sorption
©
Volatilization
©
Wastewater Treatment
©
Other
Figure 2-3. Peer-reviewed Literature - Fate and Transport Search Results for />-Dichlorobenzene
Click here for interactive Health Assessment Workplace Collaborative (HAWC) Diagram.
Included
0
TSCA Fate p-DCB (2020) Excluded
Supplemental
18
-------
Gene..i
162
Environmental Releases
Occupational Exposure
r:
Total for HAB:
Engineering
Supplemental
Figure 2-4. Peer-reviewed Literature - Engineering Search Results for />-Dichlorobenzene
-------
no evidence (not PECO-relevant) (3)
groundwater (32)
evidence unclear (PECO relevancy unclear) (1)
Supplemental (127)
drinking water (20)
consumer uses and/or products (1)
biosolids/ sludge (3)
ambient air (69)
terrestrial species (3)
surface water (85)
soil (14)
Unique HERO IDs (751)
Exclude (238)
sediment (43)
indoor air (102)
ground water (13)
evidence unclear (PECO relevancy unclear) (1)
Relevant (318)
epidemiological/ human biomonitoring study (63)
drinking water (11)
dietary (17)
consumer uses and/or products (19)
biosolids/sludge (15)
aquatic species (21)
ambient air (55)
Unclear (68)
evidence unclear (PECO relevancy unclear) (68)
Figure 2-5. Peer-reviewed Literature Exposure Search Results for/j-Dichlorobenzene
-------
566
Retrieved for Full-text
Review
3583
Total for T1AB:
Hazard
X 3017
Exclusion
Figure 2-6. Peer-reviewed Literature- Hazard Search Results for />-Dichlorobenzene
2.1.3 Search of TSCA Submissions
Table 2-1 presents the results of screening the titles of data sources and reports submitted to EPA under
various sections of TSCA. EPA screened a total of 111 submissions using inclusion/exclusion criteria
specific to individual disciplines (see Table 2-1 for the list of disciplines). The details about the criteria
are not part of this document but will be provided in a supplemental document that EPA anticipates
releasing prior to the finalization of the scope document. EPA identified 70 submissions that met the
inclusion criteria in these statements and identified 27 submissions with supplemental data. EPA
excluded 14 submissions because the reports were identified as one of the following:
• Published report that would be identified via other peer or gray literature searches
• Preliminary report of a final available submitted report
• Duplicate of another report
• Submission on a different chemical
• Data not relevant to any discipline
EPA plans to conduct additional deduplication at later stages of the systematic review process (e.g., full
text screening), when more information regarding the reports is available.
21
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Table 2-1. Results of Title Screening of Submissions to EPA under Various Sections of TSCA a
Discipline
Included
i
Supplemental
Physicochemical Properties
1
0
Environmental Fate and
9
0
Transport
Environmental and General
42
1
Population Exposure
Occupational
Exposure/Release Information
5
2
Environmental Hazard
11
2
Human Health Hazard
19
24
a Individual submissions may be relevant to multiple disciplines.
b Included submissions may contain supplemental data for other disciplines, which will be identified at full-text review.
2.2 Conditions of Use
As described in the Promised Designation ofp-Dichlorobemem (CASRN106-46-7) as a High Priority
Substance for Risk Evaluation (U.S. EPA, 2019a), EPA assembled information from the CDR and TRI
programs to determine conditions of use2 or significant changes in conditions of use of the chemical
substance. EPA also consulted a variety of other sources to identify uses of p-dichlorobenzene
including: published literature, company websites, and government and commercial trade databases and
publications. To identify formulated products containing /;-dichlorobenzene, EPA searched for safety
data sheets (SDS) using internet searches, EPA Chemical and Product Categories (CPCat) data, and
other resources in which SDSs could be found. In addition, EPA incorporated communications with
companies, industry groups, environmental organizations, and public comments to supplement the
condition of use information.
EPA identified and described the categories and subcategories of conditions of use that EPA plans to
include in the scope of the risk evaluation (Section 2.2.1; Table 2-2). The conditions of use that EPA
plans to include in the scope are those reflected in the life cycle diagrams and conceptual models.
After gathering reasonably available information related to the manufacture, processing, distribution in
commerce, use, and disposal of />dichlorobenzene, EPA identified those categories or subcategories of
use activities for />dichlorobenzene the Agency determined not to be conditions of use or will otherwise
be excluded during scoping. These categories and subcategories are described in Section 2.2.2.
2.2.1 Categories and Subcategories of Conditions of Use Included in the Scope of the Risk
Evaluation
Table 2-2 lists the conditions of use that EPA plans to include in the scope of the risk evaluation.
2 Conditions of use means the circumstances, as determined by the Administrator, under which a chemical substance is
intended, known, or reasonably foreseen to be manufactured, processed, distributed in commerce, used, or disposed of..
22
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Table 2-2. Categories and Subcategories of Conditions of Use Included in the Scope of the Risk
Evaluation
l.ile-Cvcle Stage
Category
Subcategory
References
Manufacturing
Import
Import
U.S. EPA, 2019b
Processing
Processing as a
reactant
Intermediate in: plastic material
and resin manufacturing
pharmaceutical manufacturing;
all other basic organic chemical
manufacturing; dye
manufacturing.
U.S. EPA, 2019b;
Processing -
incorporation into
formulation, mixture
or reaction product
Intermediates in plastic material
and resin manufacturing
U.S. EPA, 2019b
Constituent in oils; Solvents
(which become part of product
formulation or mixture in
plastic material and resin
manufacturing)
EP A-HO-OPPT-2018-
0446-0007
Odor agents (deodorizers)
U.S. EPA, 2019b
Processing -
incorporation into
article
Other, including in plastic
product manufacturing
U.S. EPA. CPCat.
EPA-HO-OPPT-2018-
0446-0017
Intermediates in Pesticides,
fertilizer and other agricultural
chemical manufacturing (moth
repellant)
U.S. EPA, 2019b
Odor agents in Wholesale and
retail trade
U.S. EPA, 2019b
Pharmaceutical and medicine
manufacturing
U.S. EPA, 2019b
Recycling
U.S. EPA, 2019b
Distribution in
commerce
Distribution in
commerce
Distribution in commerce
Commercial use
Air care products
Continuous action air fresheners
(including toilet/urinal
deodorizers/fresheners),
cleaning and furnishing care
uses
U.S. EPA, 2019b; EPA-
HQ-OPPT-2018-0446-
0004; DeLima
Associates(2014); 8220
Round Block PARA
Cherry Pink (2018).SDS
23
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Automotive care
products
Automotive care products
U.S. EPA, 2019b;
Marvel Mystery Oil
(2017)
Lubricants and
greases
Lubricants and greases,
degreasers
U.S. EPA, 2019b;
Marvel Mystery Oil
(2017) SDS
Other use
e.g., Laboratory and analytical
uses
U.S. EPA, 2019b;
Paulex Powder
Embalming (2.016) SDS
Building and
construction
products
e.g., Plastic foam insulation,
foam sealant
Touch if' Foam Mouse
Shield Can Foam
Sealant and Blocker
(2019) SDS
Consumer use
Building and
construction
products
e.g., Plastic foam insulation,
foam sealant
Touch n' Foam Mouse
Shield Can Foam
Sealant and Blocker
(2019) SDS
Air care products
Continuous action air fresheners
(including toilet/urinal
deodorizers/fresheners)
U.S. EPA, 2019b;
HO-OPPT-201N 0 S4o-0
<^M, 1 ^Lima Associates
, JO 1 4);
Automotive care
products
Automotive care products
(including automotive fuel
additive)
U.S. EPA, 2019b;
Marvel Oil Company
(2017) SDS
Disposal
Disposal
Disposal
• Life Cycle Stage Use Definitions (40 CFR § 711.3)
- "Industrial use" means use at a site at which one or more chemicals or mixtures are manufactured (including
imported) or processed.
- "Commercial use" means the use of a chemical or a mixture containing a chemical (including as part of an article)
in a commercial enterprise providing saleable goods or services.
- "Consumer use" means the use of a chemical or a mixture containing a chemical (including as part of an article,
such as furniture or clothing) when sold to or made available to consumers for their use.
• Although EPA has identified both industrial and commercial uses here for purposes of distinguishing scenarios in this
document, the Agency interprets the authority over "any manner or method of commercial use" under TSCA section
6(a)(5) to reach both.
• These subcategories reflect more specific uses of o-Dichlorobenzene.
• The Agency has included information in this draft scope document sourced from the 2012 and 2016 Chemical Data
Reporting (CDR) Rule collections. In instances where particular CDR data elements included in this document were
claimed as confidential business information (CBI), the Agency reviewed the claims and secured their declassification.
24
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2.2.2 Activities Excluded from the Scope of the Risk Evaluation
As explained in the final rule, Procedures for Chemical Risk Evaluation Under the Amended Toxic
Substances Control Act, TSCA Section 6(b)(4)(D) requires EPA to identify the hazards, exposures,
conditions of use, and the PESS the Administrator expects to consider in a risk evaluation, suggesting
that EPA may exclude certain activities that it determines to be conditions of use on a case-by-case
basis (82 FR 33726, 33729; July 20, 2017). TSCA section 3(4) also grants EPA the authority to
determine what constitutes a condition of use for a particular chemical substance. EPA does not plan to
include in this scope or in the risk evaluation the activities described below that the Agency has
concluded do not constitute conditions of use.
EPA identified two uses that are excluded from the definition of "chemical substance" in TSCA §
3(2)(B)(vi) and are therefore not "conditions of use" (defined as circumstances associated with "a
chemical substance" in TSCA § 3(4)), /;-Dichlorobenzene is used as a conventional chemical insecticide
with the majority of the pesticidal uses as a moth repellant. Any pesticide (as defined in the Federal
Insecticide, Fungicide and Rodenticide Act (FIFRA) 7 U.S.C. §136 et seq (1996) when manufactured,
processed, or distributed in commerce for use as a pesticide is excluded from the definition of "chemical
substance" in TSCA § 3(2)(B)(vi). Activities and releases associated with such pesticidal uses are
therefore not "conditions of use," and EPA does not plan to evaluate them during risk evaluation. Public
comments submitted to EPA in the docket also emphasized the use of />dichlorobenzene in pesticides
(EPA-HQ-OPPT-2018-0446).
/;-Dichlorobenzene is authorized for use as a food contact substance in food contact polymers, under the
definition of "food additive" in the Federal Food, Drug and Cosmetic Act, 21 U.S.C. § 321. Any food
additive, when manufactured, processed, or distributed in commerce for use as a food additive, is
excluded from the definition of "chemical substance" under TSCA § 3(2)(B)(vi). Activities associated
with such food additive uses are therefore not "conditions of use" (defined as circumstances associated
with "a chemical substance3," TSCA § 3(4)) and EPA does not plan to evaluate them during risk
evaluation.
2.2.3 Production Volume
As reported to EPA during the 2016 CDR reporting period and described here as a range to protect
production volumes that were claimed as confidential business information (CBI), total production
volume of/?-dichlorobenzene in 2015was between 50 million and 100 million pounds (U.S. EPA 2017).
EPA also uses pre-2015 CDR production volume information, as detailed in the Proposed Designation
of p-Dichlorobenzene fCASRN 11 a High Priority Substance for Risk Evaluation (U.S. EPA,
2019a) and will include future production volume information as it becomes available to support the
exposure assessment.
3 Chemical substance means any organic or inorganic substance of a particular molecular identity, including any combination
of such substances occurring in whole or in part as a result of a chemical reaction or occurring in nature, and any element or
uncombined radical. Chemical substance does not include (1) any mixture; (2) any pesticide (as defined in the Federal
Insecticide, Fungicide, and Rodenticide Act) when manufactured, processed, or distributed in commerce for use as a
pesticide; (3) tobacco or any tobacco product; (4) any source material, special nuclear material, or byproduct material (as
such terms are defined in the Atomic Energy Act of 1954 and regulations issued under such Act); (5) any article the sale of
which is subject to the tax imposed by Section 4181 of the Internal Revenue Code of 1954 (determined without regard to any
exemptions from such tax provided by Section 4182 or 4221 or any other provision of such Code), and; (6) any food, food
additive, drug, cosmetic, or device (as such terms are defined in Section 201 of the Federal Food, Drug, and Cosmetic Act)
when manufactured, processed, or distributed in commerce for use as a food, food additive, drug, cosmetic, or device.
25
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2.2.4 Overview of Conditions of Use and Lifecycle Diagram
The life cycle diagram provided in Figure 2-7 depicts the conditions of use that are considered within
the scope of risk evaluation for the various life cycle stages. This section provides a brief overview of
the industrial, commercial and consumer use categories included in the life cycle diagram. The activities
that the EPA determined are out of scope are not included in the life cycle diagram. 2.8Appendix E
contains additional descriptions (e.g., process descriptions, worker activities, process flow diagrams) for
each manufacture, processing, distribution in commerce, use and disposal category.
The information in the life cycle diagram is grouped according to the CDR processing codes and use
categories (including functional use codes for industrial uses and product categories for industrial,
commercial and consumer uses).
26
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MFG/IMPO
PROCESSING
Manufacture
(Includes
Import)
INDUSTRIAL, COMMERCIAL,
RELEASES and WASTE
Processing as a reactant
(e.g., intermediates in plastic
material and resin
manufacturing,
pharmaceutical
manufacturing; all other basic
chemical manufacturing; dye
manufacturing)
Incorporation into
formulation, mixture or
reaction product
(e.g., intermediates in plastic
material and resin
manufacturing; constituent in
oils; solvents; odor agents)
Incorporation into article
(e.g., plastic product
manufacturing, intermediates
in pesticide, fertilizer, and
other agricultural chemical
manufacturing; odor agents in
wholesale and retail trade;
pharmaceutical and medicine
manufacturing)
Recycling
Other Uses
e.g., laboratory and analytical
1, 2
Air Care Products
e.g., continuous action air
fresheners including
toilet/urinal
deodorizers/fresheners,
cleaning and furnishing care
Lubricants and greases
e.g., Lubricants and greases,
degreasers
1,2
Automotive Care Products
e.g., automotive care products
including automotive fuel
additive
Building and Construction
T. . 1.2
Products
e.g., plastic foam insulation,
foam sealant
Disposal
See Conceptual
Model for
Environmental
Manufacture (Including
Processing
Uses:
1. Industrial and/or
commercial
Figure 2-7./7-Dichlorobenzene Life Cycle Diagram
Volume is not depicted in the life cycle diagram for processing and industrial, commercial, and consumer uses as specific production volume is claimed confidential business
information (CBI) or withheld pursuant to TSCA section § 14.
27
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2.3 Exposures
For TSCA exposure assessments, EPA plans to analyze exposures and releases to the environment
resulting from the conditions of use within the scope of the risk evaluation for of />di chl orob enzene.
Release pathways and routes will be described to characterize the relationship or connection between the
conditions of use of the chemical and the exposure to human receptors, including potentially exposed or
susceptible subpopulations, and environmental receptors. EPA plans to consider, where relevant, the
duration, intensity (concentration), frequency, and number of exposures in characterizing exposures to
p-di chl orob enzene.
2.3.1 Physical and Chemical Properties
Physical and chemical properties are essential for a thorough understanding or prediction of
environmental fate (i.e., transport and transformation) and the eventual environmental concentrations.
They can also inform the hazard assessment. EPA plans to use the physical and chemical properties
described in Table 7 of the Promised Designation of p-Dichlorobenzene fCASRN 106-46-7) as a High
Priority Substance for Risk Evaluation (U.S. EPA, 2019a) to support the development of the risk
evaluation for /;-dichlorobenzene. The values for the physical and chemical properties (Appendix B)
may be updated as EPA collects additional information through systematic review methods.
2.3.2 Environmental Fate and Transport
Understanding of environmental fate and transport processes assists in the determination
of the specific exposure pathways and potential human and environmental receptors that need to be
assessed in the risk evaluation for /;-di chl orob enzene. EPA plans to use the environmental fate
characteristics described in Table 8 of the Proposed Designation of p-Dichlorobenzene (CASRN 106-46-
7) as a Hish Priority Substance for Risk Evaluation (U.S. EPA, 2019a) to support the development of
the risk evaluation for /?-di chl orob enzene. The values for the environmental fate properties (Appendix
C) may be updated as EPA collects additional information through systematic review methods.
2.3.3 Releases to the Environment
Releases to the environment from conditions of use are a component of potential exposure and may be
derived from reported data that are obtained through direct measurement, calculations based on
empirical data and/or assumptions and models.
A source of information that EPA plans to consider in evaluating exposure are data reported to the
Toxics Release Inventory (TRI) program. EPA's TRI database contains information on chemical waste
management activities that are disclosed by industrial and federal facilities, including quantities released
into the environment (i.e., to air, water, and disposed to land), treated, burned for energy, recycled, or
transferred off-site to other facilities for these purposes.
Under Section 313 of the Emergency Planning and Community Right-to-Know Act (EPCRA) p-
di chl orob enzene is a TRI-reportable substance, under the name 1,4-dichlorobenzene, effective January
01, 1987 (40 CFR 372.65). For TRI reporting4, facilities in covered sectors in the United States are
required to disclose releases and other waste management activity quantities of />dichlorobenzene under
the CASRN 106-46-7 if they manufacture (including import) or process more than 25,000 pounds or
otherwise use more than 10,000 pounds of the chemical in a given year by July 1 of the following year.
4 For TRI reporting criteria see https://www.epa.gOY/toxics-release-iiiventorv-tri-program/basics-tri-reporling
28
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Table 2-3 provides production-related waste management data for /;-di chl orobenzene reported by
facilities to the TRI program for reporting year 2018.5 As shown in the Table 2-3, 16 facilities reported
in total nearly 2.7 million pounds of />di chl orobenzene as production-related waste. Of this total, over
1.45 million pounds were recycled and over 1.14 million pounds were treated. Only 1% (approximately
29,000 pounds) of the production-related waste was burned for energy recovery during 2018, and only
2% was released to the environment. The majority of the quantities (92%) of para-d\chlorobenzene
managed as production-related waste were managed as such on site.
Table 2-3. Summary of p-Dichlorobenzene TRI Production-Related Waste Managed in 2018
Year
Number of
l-'acililies
Recycled
(lbs)
Recovered for
Knergv
(lbs)'
Treated
(lbs)
Released111"
(lbs)
lot;il Production
Related Waste
(lbs)
:di chl orobenzene disposed to land and released to air were roughly
equal. Comparatively much smaller amounts were discharged to water or designated as "other releases".
The quantities of />di chl orobenzene that were disposed of on land were almost exclusively on site to
RCRA Subtitle C landfills, and account for approximately 50% of the total amount of />di chl orobenzene
released to the environment in 2018. Air releases accounted for 47% of total />di chl orobenzene releases;
fugitive air releases comprised the majority of air releases, with only about 1/6 from point sources (i.e.,
stacks). Of the total /?-di chl orobenzene disposed of or otherwise released during 2018, only 3% took
place off site: nearly all of this quantity was sent off site to waste brokers for disposal, as reported in
Table 2-4 under "other releases".
Table 2-4. Summary of Releases of p-Dichlorobenzene to the Environment During 2018
Air Rclcsiscs
I.siihI Dispossil
Year
Nil in her
ol'
l-'sicililics
Si sick Air
Rclcsiscs
(Ills)
l''u git i\i*
Air
Rclcsiscs
(II)N)
\\ Slier
RclcSISCS
(ll)S)
(kiss 1
I mlcr-
liround
Injection
(lbs)
R( RA
Subtitle ('
Lsimirills
(lbs)
All oilier
I.siihI
Dispossil''
(lbs)
Oilier
Rclcsiscs •'
(lbs)
Tolsil
Rclcsiscs 1,1
(lbs)
16
4,396
21,761
38
27,997
0
1,788
55,984
5 Reporting year 2018 is the most recent TRI data available. Data presented in Table2-3 were queried using TRI Explorer and
uses the 2018 National Analysis data set (released to the public in November 2019). This dataset includes revisions for the
years 1988 to 2018 processed by EPA.
29
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Aii* Rclcsiscs
l.sinri Dispossil
Year
Number
ol'
l-'sicililics
Si sick Air
Rclcsiscs
(ll)N)
l-"ujiili\c
Air
Rclcsiscs
(ll)S)
\\ silcr
Rclcsiscs
(lbs)
(hiss 1
I udcr-
li round
Injcd ion
(ll)S)
RCRA
Subtitle (
l.sindlills
(lbs)
All oilier
l.siud
Dispossil''
(lbs)
Oilier
Rclcsiscs •'
(lbs)
Tolsil
Rclcsiscs 1,1
(lbs)
2018
26,157
5
28,034
Data source: 2018 TRI Data (U.S. EPA, 2019c)
a Terminology used in these columns may not match the more detailed data element names used in the TRI public data and analysis access points.
b These release quantities do include releases due to one-time events not associated with production such as remedial actions or earthquakes.
c Counts release quantities once at final disposition, accounting for transfers to other TRI reporting facilities that ultimately dispose of the chemical waste.
While production-related waste managed shown in Table 2-3 excludes any quantities reported as
catastrophic or one-time releases (TRI section 8 data), release quantities shown in Table 2-4 include
both production-related and non-production-related quantities. For /;-dichlorobenzene the total release
quantities shown in each table are the same, but for other TRI chemicals total release quantities between
the two tables may differ slightly and may further reflect differences in TRI calculation methods for
reported release range estimates (U.S. EPA. 2019d).
EPA plans to review these data in conducting the exposure assessment component of the risk evaluation
for p-dichlorobenzene.
2.3.4 Environmental Exposures
The manufacturing, processing, distribution, use and disposal of />dichlorobenzene can result in releases
to the environment and exposure to aquatic and terrestrial receptors (biota). Environmental exposures to
biota are informed by releases into the environment, overall persistence, degradation, and
bioaccumulation, and partitioning across different media. Concentrations of chemical substances in biota
provide evidence of exposure. EPA plans to review reasonably available information on environmental
exposures in biota to inform development of the environmental exposure assessment for p-
dichlorobenzene.
2.3.5 Occupational Exposures
EPA plans to analyze worker activities where there is a potential for exposure under the various
conditions of use (manufacturing, processing and industrial/commercial uses) described in Section 2.2.1.
In addition, EPA plans to analyze exposure to occupational non-users (ONU's), i.e., workers who do not
directly handle the chemical but perform work in an area where the chemical is present. EPA also plans
to consider the effect(s) that engineering controls (EC) and/or personal protective equipment (PPE) have
on occupational exposure levels as part of the draft risk evaluation.
Workers activities associated with the conditions of use within the scope of the risk evaluation for p-
dichlorobenzene that EPA will analyze include, but are not limited to:
• Unloading and transferring /;-dichlorobenzene to and from storage containers and process
vessels;
• Cleaning and maintaining equipment;
• Sampling chemicals, formulations, or products containing /;-dichlorobenzene for quality
control;
• Repackaging chemicals, formulations, or products containing /;-dichlorobenzene;
30
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• Applying formulations and products containing /;-dichlorobenzene onto substrates (e.g.,
intermediates in plastic material and resin manufacturing, constituent in oils, odor agents
[deodorizers] containing /;-dichlorobenzene);
• Handling, transporting, and disposing waste containing p-dichlorobenzene; and
Performing other work activities in or near areas where p-dichlorobenzene is used.
/;-Dichlorobenzene is a solid that sublimes at ambient temperature and has a vapor pressure of 1.74
mmHg. EPA anticipates that workers and ONUs will be exposed via the inhalation route. EPA plans to
analyze inhalation exposure to vapor in scenarios where />dichlorobenzene is handled in open systems.
EPA also plans to analyze inhalation exposure to dust/particulates where p-dichlorobenzene is present as
a solid, powder, or contained in an article (e.g., particulate generated during handling of plastic resins,
finishing operations associated with the manufacture and finishing of plastics and plastic articles and
incorporation of plastics and other article components into finished products), and inhalation exposure to
mists in scenarios where products containing /;-dichlorobenzene may be spray applied (e.g., air care
products, automotive care products). The extent of inhalation exposure could vary from facility to
facility depending on many factors including but not limited to EC, type of facility, and design.
In addition, EPA plans to analyze worker exposure to solids and liquids via the dermal route, depending
on the specific physical form of />dichlorobenzene in each scenario. EPA does not plan to analyze
dermal exposure for ONUs because they do not directly handle the chemical.
EPA generally does not evaluate occupational exposures through the oral route. Workers may
inadvertently transfer chemicals from their hands to their mouths, ingest inhaled particles that deposit in
the upper respiratory tract or consume contaminated food. The frequency and significance of this
exposure route are dependent on several factors including the p-chem properties of the substance during
expected worker activities, workers' awareness of the chemical hazards, the visibility of the chemicals
on the hands while working, workplace practices, and personal hygiene that is difficult to predict
(Cherrie et al., 2006). However, EPA will consider oral exposure on a case-by-case basis for certain
COUs and worker activities where there is information and data on incidental ingestion of inhaled dust.
EPA will consider ingestion of inhaled dust as an inhalation exposure for /;-dichlorobenzene.
The United States has several regulatory and non-regulatory exposure limits for />dichlorobenzene: the
Occupational Safety and Health Administration (OSHA) Permissible Exposure Limit (PEL) (OSHA,
2020) is 75 parts per million (ppm) or 450 milligrams (mg)/cubic meter (m3) as an 8-hour time weighted
average (TWA). This chemical does not have a National Institute for Occupational Safety and Health
(NIOSH) Recommended Exposure Limit (REL), although NIOSH does identify />dichlorobenzene as a
potential occupational carcinogen (NIOSH, 2019). NIOSH has set an immediately dangerous to life or
health (IDLH) concentration of 150 ppm (NIOSH, 2019). The American Conference of Governmental
Industrial Hygienists (ACGIH) set the Threshold Limit Value (TLV) at 10 ppm as an 8-hour TWA
(Kirk-Othmer, 2001; NIOSH, 1994).
2.3.6 Consumer Exposures
According to reports of the 2016 CDR, air care products, building/construction materials, and
automotive care products were identified as consumer products for /;-dichlorobenzene. Consumers using
or disposing of />dichlorobenzene-based air care products, building/construction materials, and
automotive care products may be exposed to />dichlorobenzene through direct solid and liquid contact
which may lead to dermal and oral exposure, through vapor emissions, which may lead to inhalation
exposure, through mist and/or dust generation which may lead to dermal, inhalation, and oral exposure
(see 2.8Appendix D). Bystanders present during the consumer use of air care products,
31
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building/construction materials, and automotive care products or disposal of p-dichlorobenzene may also
be exposed to vapor emissions, mist generation, and dust generation which may lead to inhalation,
dermal, and oral exposure. Based on these potential sources and pathways of exposure, EPA plans to
analyze dermal, inhalation, and oral routes of exposure to consumers that may result from the conditions
of use of />dichlorobenzene.
There were no reports to CDR of any use of p-dichlorobenzene in children's products.
2.3.7 General Population Exposures
Releases of />dichlorobenzene from certain conditions of use, such as manufacturing, processing, or
disposal activities, may result in general population exposures. />-Dichlorobenzene has been identified as
the main dichlorobenzene present in drinking water, likely resulting from its release into surface waters
after its extensive use in toilet deodorizers (IARC. 1999).
2.4 Hazards (Effects)
2.4.1 Environmental Hazards
Substance for Risk Evaluation (U.S. EPA, 2019a), EPA considered reasonably available information
from peer-reviewed assessments and databases to identify potential environmental hazards forp-
dichlorobenzene. EPA considers all the potential environmental hazards for /^-dichlorobenzene
identified during prioritization to be relevant for the risk evaluation and thus they remain within the
scope of the evaluation. EPA is in the process of identifying additional reasonably available information
through systematic review methods and public comments, which may update the list of potential
environmental hazards associated with /^-dichlorobenzene exposure. If necessary, EPA plans to update
the list of potential hazards in the final scope document of /^-dichlorobenzene risk evaluation.
2.4.2 Human Health Hazards
As described in the Promised Designation ofp-Dichlorobenzem (CASRN106-46-7) as a High Priority
Substance for Risk Evaluation (U.S. EPA, 2019a), EPA considered reasonably available information
from peer-reviewed assessments and databases to identify potential human health hazards forp-
dichlorobenzene. EPA plans to evaluate all of the potential human health hazards for p-dichlorobenzene
identified during prioritization. The health effect categories screened for during prioritization included
acute toxicity, irritation/corrosion, dermal sensitization, respiratory sensitization, genetic toxicity,
repeated dose toxicity, reproductive toxicity, developmental toxicity, immunotoxicity, neurotoxicity,
carcinogenicity, epidemiological or biomonitoring studies and ADME. EPA is in the process of
identifying additional reasonably available information through systematic review methods and public
input, which may update the list of potential human health hazards under the scope of the risk
evaluation. EPA plans to update the list of potential hazards in the final scope document of the p-
dichlorobenzene risk evaluation.
2.5 Potentially Exposed or Susceptible Subpopulations
TSCA § 6(b)(4) requires EPA to determine whether a chemical substance presents an unreasonable risk
to "a potentially exposed or susceptible subpopulation identified as relevant to the risk evaluation."
TSCA §3(12) states that "the term 'potentially exposed or susceptible subpopulation' means a group of
individuals within the general population identified by the Administrator who, due to either greater
susceptibility or greater exposure, may be at greater risk than the general population of adverse health
effects from exposure to a chemical substance or mixture, such as infants, children, pregnant women,
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workers, or the elderly." General population is "the total of individuals inhabiting an area or making up a
whole group" and refers here to the U.S. general population ( 011).
During the Prioritization process, EPA identified the following PESS based on CDR information and
studies reporting developmental and reproductive effects: children, women of reproductive age (e.g.,
pregnant women per TSCA statute), workers and consumers (U.S. EPA 2019b). EPA plans to evaluate
these PESS in the risk evaluation.
In developing exposure scenarios, EPA plans to analyze available data to ascertain whether some human
receptor groups may be exposed via exposure pathways that may be distinct to a particular
subpopulation or life stage (e.g., children's crawling, mouthing or hand-to-mouth behaviors) and
whether some human receptor groups may have higher exposure via identified pathways of exposure
due to characteristics (e.g., activities, duration or location of exposure) when compared with the general
population (U.S. EPA. 2006). Likewise, EPA plans to evaluate available human health hazard
information to ascertain whether some human receptor groups may have greater susceptibility than the
general population to the chemical's hazard(s).
2.6 Conceptual Models
In this section, EPA presents the conceptual models describing the identified exposures (pathways and
routes), receptors and hazards associated with the conditions of use of />dichlorobenzene. Pathways and
routes of exposure associated with workers and occupational non-users are described in Section 2.6.1.
Pathways and routes of exposure associated with consumers are described in Section 2.6.2, and routes of
exposure associated with environmental releases and wastes, including those pathways that may be
addressed pursuant to other Federal laws are discussed and depicted the conceptual model shown in
Section 2.6.3. Pathways and routes of exposure associated with environmental releases and wastes,
excluding those pathways that may be addressed pursuant to other Federal laws are presented in the
conceptual model shown in Section 2.6.4.
2.6.1 Conceptual Model for Industrial and Commercial Activities and Uses: Potential
Exposures and Hazards
Figure 2-8 illustrates the conceptual model for the pathways of exposure from industrial and commercial
activities and uses of />dichlorobenzene that EPA plans to include in the risk evaluation. There is
potential for exposures to workers and/or ONU's via inhalation routes and exposures to workers via
dermal routes. It is expected that inhalation exposure to vapors is the most likely exposure route. In
addition, workers at waste management facilities may be exposed via inhalation or dermal routes via
wastewater treatment, incineration or other disposal methods. EPA plans to evaluate activities resulting
in exposures associated with distribution in commerce (e.g., loading, unloading) throughout the various
lifecycle stages and conditions of use (e.g., manufacturing, processing, industrial use, commercial use,
and disposal) rather than a single distribution scenario. For each condition of use identified in Table 2-2,
an initial determination was made whether or not each combination of exposure pathway, route, and
receptor will be further assessed in the risk evaluation. The supporting rationale are presented in
2.8 Appendix F.
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INDUSTRIAL AND
COMMERCIAL ACTIVITIES/ EXPOSURE PATHWAY EXPOSURE ROUTE RECEPTORS HAZARDS
USES
Liquid1 Solid
Contact
Manufacturing;
including Import
Hazards
potentially
associated with
acute and/or
chronic exposures
Processing
-As a reactant
-Incorporated into
fonnulation, mixture,
or reaction product
-Incorporation iuto
Article
COccupational
Non-Users J
¦~"cQnhalarion'Oral
Fugitive
Emissions
Air Care Products
Lubricants and
Greases
Automotive Care
Products
Other Use
Laboratory and
Analytical uses
Waste Handling.
Treatment, and
Disposal
(See Environmental Release Conceptual Models)
Figure 2-8. />-Dichlorobenzene Conceptual Model for Industrial and Commercial Activities and Uses: Worker and Occupational
Non-User Exposures and Hazards
The conceptual model presents the exposure pathways, exposure routes, and hazards to human receptors from industrial and commercial activities and uses of p-
dichlorobenzene.
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2.6.2 Conceptual Model for Consumer Activities and Uses: Potential Exposures and
Hazards
The conceptual model in Section 2.6.4 presents the exposure pathways, exposure routes and hazards to
human receptors from consumer activities and uses of p-dichlorobenzene. EPA expects inhalation to be
the primary route of exposure and plans to further analyze inhalation exposures to />dichlorobenzene
vapor for consumer and bystanders. Oral and dermal exposures to consumers may occur via direct
liquid, solid, mist, or dust contact during use. Inhalation exposure may occur via vapor, mist, and dust
generation. Bystanders are not expected have direct dermal contact with liquid or solid p-
dichlorobenzene but may be exposed dermally to mist and dust generation. For each consumer condition
of use identified in Table 2-2, EPA made a determination as to whether each combination of exposure
pathway, route, and receptor will be further analyzed in the risk evaluation. The results of that analysis
along with the supporting rationale are presented in 2.8Appendix G.
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CONSUMER ACTIVITIES &
USES
Air Care Products
Automotive Care
Products
Consumer Han dung of
Disposal and Waste
EXPOSURE
PATHWAY
L S3i'!»j'5ofd
th.
C or-t5c;
w
EXPOSURE
ROUTE
RECEPTORS
HAZARDS
~< Oral
p Vapof/Mst
¦nC Inhalation
Hazards Potentially
= r:
5 : :
I : E ::; es
Figure 2-9./>-Dichlorobenzene Conceptual Model for Consumer Activities and Uses: Consumer Exposures and Hazards
The conceptual model presents the exposure pathways, exposure routes and hazards to human receptors from consumer activities and uses of /j-dichlorobenzcne.
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2.6.3 Conceptual Model for Environmental Releases and Wastes: Potential Exposures
and Hazards (Regulatory Overlay)
In this section, EPA presents the conceptual models describing the identified exposures (pathways and
routes), receptors and hazards associated with the conditions of use of />dichlorobenzene within the
scope of the risk evaluation. It also discusses those pathways that may be addressed pursuant to other
Federal laws.
In complying with TSCA, EPA plans to efficiently use Agency resources, avoid duplicating efforts
taken pursuant to other Agency programs, maximize scientific and analytical efforts, and meet the
statutory deadline for completing risk evaluations. OPPT is working closely with the offices within EPA
that administer and implement the Clean Air Act (CAA), the Safe Drinking Water Act (SDWA), the
Clean Water Act (CWA) and the Resource Conservation and Recovery Act (RCRA), to identify how
those statutes and any associated regulatory programs address the presence of />dichlorobenzene in
exposure pathways falling under the jurisdiction of these EPA statutes.
The conceptual model in Section 2.6.4 presents the potential exposure pathways, exposure routes and
hazards to human and environmental receptors from releases and waste streams associated with
industrial, commercial and consumer uses of />dichlorobenzene. The conceptual model shows the
overlays, labeled and shaded to depict the regulatory programs (e.g., CAA, SDWA, CWA-AWQC,
RCRA) and associated pathways that EPA considered in developing this conceptual model for the draft
scope document. The regulatory programs that cover these environmental release and waste pathways
are further described in Section 2.6.3.1 through Section 2.6.3.4.
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RELEASES AND WASTES FROM
INDUSTRIAL / COMMERCIAL /
CONSUMER USES
EXPOSURE PATHWAYS
EXPOSURE
ROUTES
RECEPTORS
SDWA
Indirect discharge
Aquatic
Species
—jF^sh Ingestion
POTW
Oral
RCRA-HazList
liiosolids
Hazards Potentially
Associated with
Acute and/or Chronic
Exposures
Land
Disposal
Dermal
Soil
CAA-HAP
Inhalation
Fugitive Emissions
Air
Emissions to Air
Off-site Waste
Transfer
Recycling, Other
Treatment
Water, Sediment
Hazardous and
Municipal Waste
Landfill
Industrial Pre-
Treatment or
Industrial WW 1
Liquid Wastes
Solid Wastes
Wastewater or
Liquid Wastes
Hazardous and
Municipal Waste
Incinerators
Figure 2-10. />-Dichlorobenzene Conceptual Model for Environmental Releases and Wastes: Environmental and General Population
Exposures and Hazards (Regulatory Overlay)
The conceptual model presents the exposure pathways, exposure routes and hazards to human receptors from releases and wastes from industrial and commercial uses of
/?-dichlorobenzene showing environmental statutes covering those pathways. Notes:
a) Industrial wastewater or liquid wastes may be treated on-site and then released to surface water (direct discharge), or pre-treated and released to a Publicly Owned
Treatment Works (POTW) (indirect discharge). For consumer uses, such wastes may be released directly to POTW. Drinking water will undergo further treatment in
drinking water treatment plant. Ground water may also be a source of drinking water.
b) Receptors include PESS (see Section 2.5)
c) For regulation of hazardous and municipal waste incinerators and municipal waste landfills CA A and RCRA may have shared regulatory authority.
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2.6.3.1 Ambient Air Pathway
The Clean Air Act (CAA) contains a list of hazardous air pollutants (HAP) and provides EPA with the
authority to add to that list pollutants that present, or may present, a threat of adverse human health
effects or adverse environmental effects. For stationary source categories emitting HAPs, the CAA
requires issuance of technology-based standards and, if necessary, additions or revisions to address
developments in practices, processes, and control technologies, and to ensure the standards protect
public health and the environment. The CAA thereby provides EPA with comprehensive authority to
regulate emissions to ambient air of any hazardous air pollutant. p-Dichlorobenzene is a HAP. EPA has
issued a number of technology-based standards for source categories that emit />dichlorobenzene to
ambient air and, as appropriate, has reviewed, or is in the process of reviewing remaining risks.
Emission pathways to ambient air from commercial and industrial stationary sources and associated
inhalation exposure of the general population or terrestrial species in this TSCA evaluation from
stationary source releases of 1,1,2-trichlorethane to ambient air are covered under the jurisdiction of the
CAA. EPA's Office of Air and Radiation and Office of Pollution Prevention and Toxics will continue to
work together to provide an understanding and analysis of the CAA regulatory analytical processes and
to exchange information related to toxicity and occurrence data on chemicals undergoing risk evaluation
under TSCA.
2.6.3.2 Drinking Water Pathway
EPA has promulgated National Primary Drinking Water Regulations (NPDWRs) under the Safe
Drinking Water Act for /;-dichlorobenzene. EPA has set an enforceable Maximum Contaminant Level
(MCL) as close as feasible to a health based, non-enforceable Maximum Contaminant Level Goal
(MCLG). Feasibility refers to both the ability to treat water to meet the MCL and the ability to monitor
water quality at the MCL, SDWA Section 1412(b)(4)(D), and public water systems are required to
monitor for the regulated chemical based on a standardized monitoring schedule to ensure compliance
with the MCL. The MCL for /;-dichlorobenzene in water is 0.075 mg/L.
The drinking water exposure pathway for /;-dichlorobenzene is currently addressed in the SDWA
regulatory analytical process for public water systems. EPA's Office of Water and Office of Pollution
Prevention and Toxics will continue to work together providing understanding and analysis of the
SDWA regulatory analytical processes and to exchange information related to toxicity and occurrence
data on chemicals undergoing risk evaluation under TSCA.
2.6.3.3 Ambient Water Pathway
EPA develops recommended water quality criteria under section 304(a) of the CWA for pollutants in
surface water that are protective of aquatic life or human health designated uses. EPA has developed
recommended water quality criteria for protection of human health for />dichlorobenzene which are
available for possible adoption into state water quality standards and are available for possible use by
NPDES permitting authorities in deriving effluent limits to meet state narrative criteria. EPA's OW and
OPPT will continue to work together providing understanding and analysis of the CWA water quality
criteria development process and to exchange information related to toxicity of chemicals undergoing
risk evaluation under TSCA. EPA may update its CWA section 304(a) water quality criteria forp-
dichlorobenzene in the future under the CWA.
EPA has developed CWA section 304(a) recommended human health criteria for 122 chemicals and
aquatic life criteria for 47 chemicals. A subset of these chemicals is identified as "priority pollutants"
(103 human health and 27 aquatic life), including /;-dichlorobenzene. The CWA requires that states
adopt numeric criteria for priority pollutants for which EPA has published recommended criteria under
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section 304(a), the discharge or presence of which in the affected waters could reasonably be expected
to interfere with designated uses adopted the state. For pollutants with recommended human health
criteria, EPA regulations require that state criteria contain sufficient parameters and constituents to
protect designated uses. Once states adopt criteria as water quality standards, the CWA requires that
National Pollutant Discharge Elimination System (NPDES) discharge permits include effluent limits as
stringent as necessary to meet standards CWA section 301(b)(1)(C). This permit issuance process
accounts for risk in accordance with the applicable ambient water exposure pathway (human health or
aquatic life as applicable) for the designated water use and, therefore, can the risk from the pathway can
be considered assessed and managed.
EPA has not developed CWA section 304(a) recommended water quality criteria for the protection of
aquatic life for /;-dichlorobenzene, so there are no national recommended criteria for this use available
for adoption into state water quality standards and available for use in NPDES permits. As a result, this
pathway will undergo aquatic life risk evaluation under TSCA (see Section 2.4.1). EPA may publish
CWA section 304(a) aquatic life criteria for /;-dichlorobenzene in the future if it is identified as a
priority under the CWA.
2.6.3.4 Disposal and Soil Pathways
p-Dichlorobenzene is included on the list of hazardous wastes pursuant to RCRA 3001 (40 CFR §§
261.33) as a listed waste on the U072 and D027 lists. The general standard in section RCRA 3004(a) for
the technical criteria that govern the management (treatment, storage, and disposal) of hazardous waste
are those "necessary to protect human health and the environment," RCRA 3004(a). The regulatory
criteria for identifying "characteristic" hazardous wastes and for "listing" a waste as hazardous also
relate solely to the potential risks to human health or the environment (40 CFR §§ 261.11, 261.21-
261.24). RCRA statutory criteria for identifying hazardous wastes require EPA to "tak[e] into account
toxicity, persistence, and degradability in nature, potential for accumulation in tissue, and other related
factors such as flammability, corrosiveness, and other hazardous characteristics." Subtitle C controls
cover not only hazardous wastes that are landfilled, but also hazardous wastes that are incinerated
(subject to joint control under RCRA Subtitle C and the Clean Air Act (CAA) hazardous waste
combustion Maximum Achievable Control Technology (MACT)) or injected into Underground
Injection Control (UIC) Class I hazardous waste wells (subject to joint control under Subtitle C and the
Safe Drinking Water Act (SDWA)).
TRI reporting in 2018 indicated 38 pounds released to underground injection to Class I hazardous waste
wells. Environmental disposal of/>dichlorobenzene injected into Class I well types are presumed to be
managed and prevented from further environmental release by RCRA and SDWA regulations.
Therefore, disposal of/>dichlorobenzene via underground injection is not likely to result in
environmental and general population exposures.
EPA has identified releases to land that go to RCRA Subtitle C hazardous waste landfills. Based on
2018 reporting, the majority of TRI land disposal includes Subtitle C landfills (27,997 pounds) with a
much smaller amount transferred to "other landfills" both on-site and off-site (400 pounds reported in
2015 and 0 pounds in 2018). Design standards for Subtitle C landfills require double liner, double
leachate collection and removal systems, leak detection system, run on, runoff, and wind dispersal
controls, and a construction quality assurance program. They are also subject to closure and post-closure
care requirements including installing and maintaining a final cover, continuing operation of the leachate
collection and removal system until leachate is no longer detected, maintaining and monitoring the leak
detection and groundwater monitoring system. Bulk liquids may not be disposed in Subtitle C landfills.
Subtitle C landfill operators are required to implement an analysis and testing program to ensure
40
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adequate knowledge of waste being managed, and to train personnel on routine and emergency
operations at the facility. Hazardous waste being disposed in Subtitle C landfills must also meet RCRA
waste treatment standards before disposal. Given these controls, general population exposure in
groundwater from Subtitle C landfill leachate is not expected to be a significant pathway.
/;-Dichlorobenzene is present in commercial and consumer products that may be disposed of in
Municipal Solid Waste (MSW) landfills. On-site releases RCRA Subtitle D municipal solid waste
landfills leading to exposures of the general population (including susceptible populations) or terrestrial
species from such releases are expected to be minimal based on current TRI releases (i.e., 0 lb in 2018)
for 1,1,2- trichloroethane. While permitted and managed by the individual states, municipal solid waste
(MSW) landfills are required by federal regulations to implement some of the same requirements as
Subtitle C landfills. MSW landfills generally must have a liner system with leachate collection and
conduct groundwater monitoring and corrective action when releases are detected. MSW landfills are
also subject to closure and post-closure care requirements and must have financial assurance for funding
of any needed corrective actions. MSW landfills have also been designed to allow for the small amounts
of hazardous waste generated by households and very small quantity waste generators (less than 220 lb
per month). Bulk liquids, such as free solvent, may not be disposed of at MSW landfills.
On-site releases to land from industrial non-hazardous and construction/demolition waste landfills may
occur for /;-dichlorobenzene. Industrial non-hazardous and construction/demolition waste landfills are
primarily regulated under authorized state regulatory programs. States must also implement limited
federal regulatory requirements for siting, groundwater monitoring, and corrective action, and a
prohibition on open dumping and disposal of bulk liquids. States may also establish additional
requirements such as for liners, post-closure and financial assurance, but are not required to do so.
2.6.4 Conceptual Model for Environmental Releases and Wastes: Potential Exposures
and Hazards
As described in Section 2.6.3, some pathways in the conceptual models are covered under the
jurisdiction of other environmental statutes administered by EPA. The conceptual model depicted in
Figure 2-11 presents the exposure pathways, exposure routes and hazards to human and environmental
receptors from releases and wastes from industrial, commercial, and consumer uses of p-
dichlorobenzene that EPA plans to consider in the risk evaluation. The exposure pathways, exposure
routes and hazards presented in this conceptual model are subject to change in the final scope, in light of
comments received on this draft scope and other reasonably available information. EPA continues to
consider whether and how other EPA-administered statutes and any associated regulatory programs
address the presence of />dichlorobenzene in exposure pathways falling under the jurisdiction of these
EPA statutes.
The diagram shown in Figure 2-11 includes releases from industrial, commercial and/or consumer uses
to water/sediment; biosolids and soil, via direct and indirect discharges to water, that may lead to
exposure to aquatic and terrestrial receptors. The supporting basis for environmental pathways
considered for p-dichlorobenzene are included in Appendix H.
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RELEASES AND WASTES FROM
INDUSTRIAL / COMMERCIAL /
CONSUMER USES
EXPOSURE PATHWAYS
EXPOSURE
ROUTES
RECEPTORS HAZARDS
Wastewater or
Liquid Wastes
Industrial Pre-
Treatment or
Industrial WWT
1
Indirect discharge
*
POTW
¦ Water, Sediment)
Ltiosolids
Land
Disposal
i
Soil
Aquatic
Species
! lazards Potentially
Associated with
Acute and/or Chronic
Exposures
Ground
Water
CAA
RCRA
SDWA
CWA
^ Terrestrial
Species
Figure 2-1 l./;-Dichlorobenzene Conceptual Model for Environmental Releases and Wastes: Environmental and General Population
Exposures and Hazards
The conceptual model presents the exposure pathways, exposure routes and hazards to human receptors from releases and wastes from industrial and commercial uses of
/j-dichlorobcnzcnc that EPA plans to consider in the risk evaluation. Notes:
a) Industrial wastewater or liquid wastes may be treated on-site and then released to surface water (direct discharge), or pre-treated and released to POTW (indirect
discharge). For consumer uses, such wastes may be released directly to POTW. Drinking water will undergo further treatment in drinking water treatment plant.
Ground water may also be a source of drinking water.
b) Receptors include PESS (see Section 2.5).
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2.7 Analysis Plan
The analysis plan is based on EPA's knowledge of p-dichlorobenzene to date which includes a partial,
but not complete review of identified information as described in Section 2.1. EPA encourages
submission of additional existing data, such as full study reports or workplace monitoring from industry
sources, that may be relevant for further evaluating conditions of use, exposures, hazards and PESS
during risk evaluation. Further, EPA may consider any relevant CBI in the risk evaluation in a manner
that protects the confidentiality of the information from public disclosure. EPA plans to continue to
consider new information submitted by the public. Should additional data or approaches become
available, EPA may update its analysis plan in the final scope document.
2.7.1 Physical and Chemical Properties and Environmental Fate
EPA plans to analyze the physical and chemical (p-chem) properties and environmental fate and
transport of /?-dichlorobenzene as follows:
1) Review reasonably available measured or estimated p-chem and environmental fate
endpoint data collected using systematic review procedures and, where available,
environmental assessments conducted by other regulatory agencies.
EPA plans to review data and information collected through the systematic review methods and
public comments about the p-chem properties (Appendix B) and fate endpoints (Appendix C)
previously summarized in the Proposed Designation of p-Dichlorobenzem (CASRN106-46-7)
as a High Priority Substance for Risk Evaluation (U.S. EPA, 2019a). All sources cited in EPA's
analysis will be evaluated according to the procedures described in the systematic review
documentation that EPA plans to publish prior to finalizing the scope document. Where the
systematic review process fails to identify experimentally measured chemical property values of
sufficiently high quality, these values will be estimated using chemical parameter estimation
models as appropriate. Model-estimated fate properties will be reviewed for applicability and
quality.
2) Using measured data and/or modeling, determine the influence of environmental fate
endpoints (e.g., persistence, bioaccumulation, partitioning, transport) on exposure
pathways and routes of exposure to human and environmental receptors.
Measured data and, where necessary, model predictions of p-chem properties and environmental
fate endpoints will be used to characterize the persistence and movement of p-dichlorobenzene
within and across environmental media. The fate endpoints of interest include volatilization,
sorption to organic matter in soil and sediments, water solubility, aqueous and atmospheric
photolysis rates, aerobic and anaerobic biodegradation rates, and potential bioconcentration and
bioaccumulation. These endpoints will be used in exposure calculations.
3) Conduct a weight-of-evidence evaluation of environmental fate data, including qualitative
and quantitative sources of information.
During risk evaluation, EPA plans to evaluate and integrate the p-chem and environmental fate
evidence identified in the literature inventory using the methods described in the systematic
review documentation that EPA plans to publish prior to finalizing the scope document.
2.7.2 Exposure
EPA plans to analyze exposure levels for indoor dust, indoor air, surface water, ground water, sediment,
soil, dietary food sources, aquatic biota, and terrestrial biota associated to exposure to p-
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dichlorobenzene. EPA has not yet determined the exposure levels in these media or how they may be
used in the risk evaluation. Exposure scenarios are combinations of sources (uses), exposure pathways,
and exposed receptors. Draft release/exposure scenarios corresponding to various conditions of use for
^-dichlorobenzene are presented in 2.8Appendix E. EPA plans to analyze scenario-specific exposures.
Based on their physical-chemical properties, expected sources, and transport and transformation within
the outdoor and indoor environment, chemical substances are more likely to be present in some media
and less likely to be present in others. Exposure level(s) can be characterized through a combination of
available monitoring data and modeling approaches.
2.7.2.1 Environmental Releases
EPA plans to analyze releases to environmental media as follows:
1) Review reasonably available published literature and other reasonably available
information on processes and activities associated with the conditions of use to analyze the
types of releases and wastes generated.
EPA has reviewed some sources containing information on processes and activities resulting in
releases, and the information found is described in Appendix E. EPA plans to continue review
additional data sources identified. Potential sources of environmental release data are
summarized in Table 2-5 below:
Table 2-5. Categories and Sources of Environmental Release Data
U.S. EPA TRI Data
U.S. EPA Generic Scenarios
OECD Emission Scenario Documents
EU Risk Assessment Reports
Discharge Monitoring Report (DMR) surface water discharge data for p-
dichlorobenzene from NPDES-permitted facilities
2) Review reasonably available chemical-specific release data, including measured or
estimated release data (e.g., data from risk assessments by other environmental agencies).
EPA has reviewed key release data sources including the Toxics Release Inventory (TRI), and
the data from this source is summarized in Section 2.3.3. EPA plans to continue to review
relevant data sources during risk evaluation. EPA plans to match identified data to applicable
conditions of use and identify data gaps where no data are found for particular conditions of use.
EPA plans to attempt to address data gaps identified as described in steps 3 and 4 below by
considering potential surrogate data and models.
Additionally, for conditions of use where no measured data on releases are available, the EPA
may use a variety of methods including release estimation approaches and assumptions in the
Chemical Screening Tool for Occupational Exposures and Releases ChemSTEE (
2013).
3) Review reasonably available measured or estimated release data for surrogate chemicals
that have similar uses and physical properties.
EPA plans to continue review literature sources identified and if surrogate data are found, these
data will be matched to applicable conditions of use for potentially filling data gaps.
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4) Review reasonably available data that may be used in developing, adapting or applying
exposure models to the particular risk evaluation.
This item will be performed after completion of #2 and #3 above. EPA plans to continue to
evaluate relevant data to determine whether the data can be used to develop, adapt or apply
models for specific conditions of use (and corresponding release scenarios). EPA has identified
information from various EPA statutes (including, for example, regulatory limits, reporting
thresholds or disposal requirements) that may be relevant to release estimation. EPA plans to
further consider relevant regulatory requirements in estimating releases during risk evaluation.
5) Review and determine applicability of OECD Emission Scenario Documents (ESDs) and
EPA Generic Scenarios to estimation of environmental releases.
EPA has identified potentially relevant OECD Emission Scenario Documents (ESDs) and EPA
Generic Scenarios (GS) that correspond to some conditions of use; for example, the July 2009
ESP on Plastics Additives (OECD, 2009) and the September 2 SD on Chemical Industry
(OECD, 2011) may be useful. EPA plans to critically review these generic scenarios and ESDs
to determine their applicability to the conditions of use assessed.
EPA Generic Scenarios are available at the following: https://www.epa.gov/tsca-screening-
tools/using-predictive-methods-assess-exposure-and-fate-under-tsca#fate.
OECD Emission Scenario Documents are available at the following:
http://www.oecd.org/chemicalsafetv/risk-assessment/emissionscenariodocuments.htm
EPA plans to perform additional targeted research to understand those conditions of use which
may inform identification of release scenarios. EPA may also need to perform targeted research
for applicable models and associated parameters that EPA may use to estimate releases for
certain conditions of use. If ESDs and GSs are not available, other methods may be considered.
Additionally, for conditions of use where no measured data on releases are available, EPA may
use a variety of methods including the application of default assumptions such as standard loss
fractions associated with drum cleaning (3%) or single process vessel cleanout (1%).
6) Map or group each condition of use to a release assessment scenario(s).
EPA has identified release scenarios and mapped (i.e., grouped) them to relevant conditions of
use as shown in Appendix F. EPA was not able to identify release scenarios corresponding to
some conditions of use (e.g., automotive care products, and recycling). EPA plans to perform
targeted research to understand those uses, which may inform identification of release scenarios.
EPA may further refine the mapping of release scenarios based on factors (e.g., process
equipment and handling, magnitude of production volume used, and release sources and usage
rates of p-dichlorobenzene and polymer products and formulations containing p-
dichlorobenzene, or professional judgment) corresponding to conditions of use as additional
information is identified during risk evaluation.
7) Evaluate the weight of the scientific evidence of environmental release data.
During risk evaluation, the EPA plans to evaluate and integrate the environmental release
evidence identified in the literature inventory using the methods described in the systematic
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review documentation that EPA plans to publish prior to finalizing the scope document. The data
integration strategy will be designed to be fit-for-purpose in which EPA plans to use systematic
review methods to assemble the relevant data, evaluate the data for quality and relevance, including
strengths and limitations, followed by synthesis and integration of the evidence.
2.7.2.2 Environmental Exposures
EPA plans to analyze the following in developing its environmental exposure assessment ofp-
di chl orob enzene :
1) Review available environmental and biological monitoring data for all media relevant to
environmental exposure.
For p-$i chl orob enzene, environmental media which will be analyzed are sediment, soil, ground
water, and surface water.
2) Review reasonably available information on releases to determine how modeled estimates
of concentrations near industrial point sources compare with available monitoring data.
Available environmental exposure models that meet the TSCA Science Standards and that
estimate surface water, sediment, and soil concentrations will be analyzed and considered
alongside available surface water, sediment, and soil monitoring data to characterize
environmental exposures. Modeling approaches to estimate surface water concentrations,
sediment concentrations and soil concentrations generally consider the following inputs: direct
release into surface water, sediment, or soil, indirect release into surface water, sediment, or soil
(i.e., air deposition), fate and transport (partitioning within media) and characteristics of the
environment (e.g., river flow, volume of lake, meteorological data).
3) Determine applicability of existing additional contextualizing information for any
monitored data or modeled estimates during risk evaluation.
There have been changes to use patterns of />-di chl orob enzene over the last few years.
Monitoring data or modeled estimates will be reviewed to determine how representative they are
of ongoing use patterns.
Any studies which relate levels of /?-di chl orob enzene in the environment or biota with specific
sources or groups of sources will be evaluated.
4) Group each condition(s) of use to environmental assessment scenario(s).
Refine and finalize exposure scenarios for environmental receptors by considering sources (use
descriptors), exposure pathways including routes, and populations exposed. Forp-
di chl orob enzene, the following are noteworthy considerations in constructing exposure scenarios
for environmental receptors:
Estimates of surface water concentrations, sediment concentrations and soil
concentrations near industrial point sources based on available monitoring data.
Generally, consider the following modeling inputs: release into the media of interest,
fate and transport and characteristics of the environment.
Reasonably available biomonitoring data. Monitoring data could be used to compare
with species or taxa-specific toxicological benchmarks.
Applicability of existing additional contextualizing information for any monitored
data or modeled estimates during risk evaluation. Review and characterize the spatial
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and temporal variability, to the extent that data are available, and characterize
exposed aquatic and terrestrial populations.
Weight of the scientific evidence of environmental occurrence data and modeled
estimates.
5) Evaluate the weight of the scientific evidence of environmental occurrence data and
modeled estimates.
During risk evaluation, the EPA plans to evaluate and integrate the exposure evidence identified
in the literature inventory using the methods described in the systematic review documentation
that EPA plans to publish prior to finalizing the scope document.
2.7.2.3 Occupational Exposures
EPA plans to analyze both worker and occupational non-user exposures as follows:
1) Review reasonably available exposure monitoring data for specific condition(s) of use.
EPA plans to review exposure data including workplace monitoring data collected by
government agencies such as OSHA and NIOSH, and monitoring data found in published
literature. These workplace monitoring data include personal exposure monitoring data (direct
exposures) and area monitoring data (indirect exposures). EPA has preliminarily reviewed
available monitoring data collected by OSHA and NIOSH and will match these data to
applicable conditions of use.
OSHA has established a permissible exposure limit (PEL) for /;-dichlorobenzene of 75 parts per
million (ppm) or 450 milligrams (mg)/cubic meter (m3) as an 8-hour time weighted average
(TWA) (OSHA. 2019). EPA plans to consider the influence of such limits on occupational
exposures in the occupational exposure assessment. The following are some data sources
identified thus far:
Table 2-6. Potential Sources of Occupational Exposure Data
2012 ATSDR Toxicological Profile
U.S. OSHA Chemical Exposure Health Data (CEHD) program data
U.S. NIOSH Health Hazard Evaluation (HHE) Program reports
2) Review reasonably available exposure data for surrogate chemicals that have uses,
volatility and chemical and physical properties similar to/j-dichlorobenzene.
EPA plans to review literature sources identified and if surrogate data are found, these data will
be matched to applicable conditions of use for potentially filling data gaps.
3) For conditions of use where data are limited or not available, review existing exposure
models that may be applicable in estimating exposure levels.
EPA has identified potentially relevant EPA Generic Scenarios (GS) and will need to critically
review these generic scenarios to determine their applicability to the conditions of use assessed.
For example, the May 2004 Additives in Plastics Processing i> nhipoundh^) . (EPA, 2004)
could be used to estimate occupational exposures. EPA plans to critically review these generic
scenarios and ESDs to determine their applicability to the conditions of use. EPA plans to
perform additional targeted research to understand those conditions of use, which may inform
identification of exposure scenarios. EPA may also need to perform targeted research to identify
applicable models that EPA may use to estimate exposures for certain conditions of use.
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4) Review and determine applicability of EPA Generic Scenarios to estimation of
occupational exposures.
This step will be performed after Steps #2 and #3 are completed. Based on information
developed from Steps #2 and #3, EPA plans to evaluate relevant data to determine whether the
data can be used to develop, adapt, or apply models for specific conditions of use (and
corresponding exposure scenarios). EPA may utilize existing, peer-reviewed exposure models
developed by EPA or other government agencies, or reasonably available in the scientific
literature, or EPA may elect to develop additional models to assess specific condition(s) of use.
Inhalation exposure models may be simple box models or two-zone (near-field/far-field) models.
In two-zone models, the near-field exposure represents potential inhalation exposures to workers,
and the far-field exposure represents potential inhalation exposures to ONU's.
5) Consider and incorporate applicable EC and/or PPE into exposure scenarios.
EPA plans to review potentially relevant data sources on EC and PPE to determine their
applicability and incorporation into exposure scenarios during risk evaluation. EPA plans to
assess worker exposure pre- and post-implementation of EC, using reasonably available
information on control technologies and control effectiveness. For example, EPA may assess
worker exposure in industrial use scenarios before and after implementation of local exhaust
ventilation.
6) Map or group each condition of use to occupational exposure assessment scenario(s).
EPA has identified occupational exposure scenarios and mapped them to relevant conditions of
use (Appendix F). EPA was not able to identify occupational scenarios corresponding to some
conditions of use. EPA plans to perform targeted research to understand those uses which may
inform identification of occupational exposure scenarios. EPA may further refine the mapping of
occupational exposure scenarios based on factors (e.g., process equipment and handling,
magnitude of production volume used, and exposure/release sources) corresponding to
conditions of use as additional information is identified during risk evaluation.
7) Evaluate the weight of the scientific evidence of occupational exposure data, which may
include qualitative and quantitative sources of information.
During risk evaluation, the EPA plans to evaluate and integrate the exposure evidence identified
in the literature inventory using the methods described in the systematic review documentation
that EPA plans to publish prior to finalizing the scope document. EPA plans to rely on the weight
of the scientific evidence when evaluating and integrating occupational data. The data integration
strategy will be designed to be fit-for-purpose in which EPA plans to use systematic review
methods to assemble the relevant data, evaluate the data for quality and relevance, including
strengths and limitations, followed by synthesis and integration of the evidence.
2.7.2.4 Consumer Exposures
EPA plans to analyze both consumers using a consumer product and bystanders associated with the
consumer using the product as follows:
1) Group each condition of use to consumer exposure assessment scenario(s).
Refine and finalize exposure scenarios for consumers by considering sources (ongoing consumer
uses), exposure pathways including routes, and exposed populations.
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For p-dichlorobenzene, the following are noteworthy considerations in constructing consumer
exposure scenarios:
Conditions of use
Duration of exposure
Weight fraction of chemical in products
Amount of chemical used
2) Evaluate the relative potential of indoor exposure pathways based on reasonably available
data.
Indoor exposure pathways expected to be relatively higher include inhalation of vapors and mists
from indoor air during/>dichlorobenzene use and disposal. Indoor exposure pathways expected
to be relatively lower include dermal contact and oral ingestion of dust, liquid, or solid products.
The data sources associated with these respective pathways have not been comprehensively
evaluated, so quantitative comparisons across exposure pathways or in relation to toxicity
thresholds are not yet available.
3) Review existing indoor exposure models that may be applicable in estimating indoor air.
Indoor exposure models that estimate emission and migration of SVOCs into the indoor
environment are available. These models generally consider mass transfer as informed by the
gas-phase mass transfer coefficient, the solid-phase diffusion coefficient, and the material-air
partition coefficient. In addition, direct transfer to surface dust or physical abrasion may
influence emissions over time. These properties vary based on physical-chemical properties and
properties of the material. The OPPT's Indoor Environmental Concentrations in Buildings with
Conditioned and Unconditioned Zones (IECCU) model and other similar models can be used to
estimate indoor air and dust exposures from indoor sources.
4) Review reasonably available empirical data that may be used in developing, adapting or
applying exposure models to a particular risk evaluation scenario. For example, existing
models developed for a chemical assessment may be applicable to another chemical
assessment if model parameter data are available.
To the extent other organizations have already modeled a />dichlorobenzene consumer exposure
scenario that is relevant to the OPPT's assessment, EPA plans to evaluate those modeled
estimates. In addition, if other chemicals similar to />dichlorobenzene have been modeled for
similar uses, those modeled estimates will also be evaluated. The underlying parameters and
assumptions of the models will also be evaluated.
5) Review reasonably available consumer product-specific sources to determine how those
exposure estimates compare with each other and with indoor monitoring data reporting p-
dichlorobenzene in specific media (e.g., indoor air).
The availability of p-dichlorobenzene concentration for various ongoing uses will be evaluated.
This data provides the source term for any subsequent indoor modeling. Source attribution
between overall indoor air and dust levels and various indoor sources will be analyzed.
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6) Review reasonably available population- or subpopulation-specific exposure factors and
activity patterns to determine if PESS need to be further refined.
During risk evaluation, EPA plans to evaluate and integrate the exposure evidence identified in
the literature inventory using the methods described in the systematic review documentation that
EPA plans to publish prior to finalizing the scope document.
7) Evaluate the weight of the scientific evidence of consumer exposure estimates based on
different approaches.
EPA plans to rely on the weight of the scientific evidence when evaluating and integrating data
related to consumer exposure. The weight of the scientific evidence may include qualitative and
quantitative sources of information. The data integration strategy will be designed to be fit-for-
purpose in which EPA plans to use systematic review methods to assemble the relevant data,
evaluate the data for quality and relevance, including strengths and limitations, followed by
synthesis and integration of the evidence.
2.7.2.5 General Population
Exposures to the general population may occur from industrial and/or commercial uses, industrial
releases to air, water, or land, and other conditions of use. As described in Section 2.6, EPA does not
expect to include in the risk evaluation pathways under programs of other environmental statutes,
administered by the Agency, which assess and manage exposures and for which long-standing
regulatory and analytical processes already exist. The following pathways will not be evaluated: ambient
air, drinking water, ambient water, disposal, sediment, and soil.
2.7.3 Hazards (Effects)
2.7.3.1 Environmental Hazards
EPA plans to conduct an environmental hazard assessment of />dichlorobenzene as follows:
1) Review reasonably available environmental hazard data, including data from alternative
test methods (e.g., computational toxicology and bioinformatics; high-throughput screening
methods; data on categories and read-across; in vitro studies).
EPA plans to analyze the hazards of />dichlorobenzene to aquatic and/or terrestrial organisms,
including plants, invertebrates (e.g., insects, arachnids, mollusks, crustaceans), and vertebrates
(e.g., mammals, birds, amphibians, fish, reptiles) across exposure durations and conditions if
potential environmental hazards are identified through systematic review results and public
comments. Additional types of environmental hazard information will also be considered (e.g.,
analogue and read-across data) when characterizing the potential hazards of />dichlorobenzene
to aquatic and/or terrestrial organisms.
Environmental hazard data will be evaluated using the environmental toxicity data quality
criteria outlined in the systematic review documentation that EPA plans to publish prior to
finalizing the scope document. The study evaluation results will be documented in the risk
evaluation phase and data from suitable studies will be extracted and integrated in the risk
evaluation process.
Hazard endpoints (e.g., mortality, growth, immobility, reproduction) will be evaluated, while
considering data availability, relevance, and quality.
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2) Derive hazard thresholds for aquatic and/or terrestrial organisms.
Depending on the robustness of the evaluated data for a particular organism or taxa (e.g., aquatic
invertebrates), environmental hazard values (e.g., ECx/LCx/NOEC/LOEC, etc.) may be derived
and used to further understand the hazard characteristics of />dichlorobenzene to aquatic and/or
terrestrial species. Identified environmental hazard thresholds may be used to derived
concentrations of concern (COC), based on endpoints that may affect populations of organisms
or taxa analyzed.
3) Evaluate the weight of scientific evidence of environmental hazard data.
During risk evaluation, EPA plans to evaluate and integrate the environmental hazard evidence
identified in the literature inventory using the methods described in the systematic review
documentation that EPA plans to publish prior to finalizing the scope document.
4) Consider the route(s) of exposure, based on available monitoring and modeling data and
other available approaches to integrate exposure and hazard assessments.
EPA plans to consider aquatic (e.g., water and sediment exposures) and terrestrial pathways in
the p-dichlorobenzene conceptual model. These organisms may be exposed to/>dichlorobenzene
via a number of environmental pathways (e.g., surface water, sediment, soil, diet).
5) Conduct an environmental risk characterization of/>-dichlorobenzene.
EPA plans to conduct a risk characterization of />dichlorobenzene to identify if there are risks to
the aquatic and/or terrestrial environments from the measured and/or predicted concentrations of
/;-dichlorobenzene in environmental media (i.e., water, sediment, soil). Risk quotients (RQs)
may be derived by the application of hazard and exposure benchmarks to characterize
environmental risk (U.S. EPA. 1998; Barnthouse et al.. 1982).
6) Consider a Persistent, Bioaccumulative, and Toxic (PBT) Assessment of/>-dichlorobenzene.
EPA plans to consider the persistence, bioaccumulation, and toxic (PBT) potential ofp-
dichlorobenzene after reviewing relevant physical-chemical properties and exposure pathways.
EPA plans to assess the available studies collected from the systematic review process relating to
bioaccumulation and bioconcentration (e.g., BAF, BCF) ofp-dichlorobenzene. In addition, EPA
plans to integrate traditional environmental hazard endpoint values (e.g., LCso, LOEC) and
exposure concentrations (e.g., surface water concentrations, tissue concentrations) forp-
dichlorobenzene with the fate parameters (e.g., BAF, BCF, BMF, TMF).
2.7.3.2 Human Health Hazards
EPA plans to analyze human health hazards as follows:
1) Review reasonably available human health hazard data, including data from alternative
test methods (e.g., computational toxicology and bioinformatics; high-throughput screening
methods; data on categories and read-across; in vitro studies; systems biology).
Human health studies will be evaluated using the evaluation strategies laid out in the systematic
review documentation that EPA plans to publish prior to finalizing the scope document.
Mechanistic data may include analyses of alternative test data such as novel in vitro test methods
and high throughput screening. The association between acute and chronic exposure scenarios to
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the agent and each health outcome will also be integrated. Study results will be extracted and
presented in evidence tables or another appropriate format by organ/system
2) In evaluating reasonably available data, determine whether particular human receptor
groups may have greater susceptibility to the chemical's hazard(s) than the general
population.
Reasonably available human health hazard data will be evaluated to ascertain whether some
human receptor groups may have greater susceptibility than the general population to p-
dichlorobenzene hazard(s). Susceptibility of particular human receptor groups to p-
dichlorobenzene will be determined by evaluating information on factors that influence
susceptibility.
EPA has reviewed some sources containing hazard information associated with susceptible
populations and lifestages such as pregnant women and infants. Pregnancy (i.e., gestation) and
childhood are potential susceptible lifestages for /;-dichlorobenzene exposure. EPA plans to
review the current state of the literature in order to potentially quantify these differences for risk
evaluation purposes.
3) Conduct hazard identification (the qualitative process of identifying non-cancer and cancer
endpoints) and dose-response assessment (the quantitative relationship between hazard
and exposure) for identified human health hazard endpoints.
Human health hazards from acute and chronic exposures will be identified by evaluating the
human and animal data that meet the systematic review data quality criteria described in the
systematic review documentation that EPA plans to publish prior to finalizing the scope
document. Hazards identified by studies meeting data quality criteria will be grouped by routes
of exposure relevant to humans (oral, dermal, inhalation) and by cancer and noncancer
endpoints.
Dose-response assessment will be performed in accordance with EPA guidance (U.S. EPA.
2012a. 2011. 1994). Dose-response analyses may be used if the data meet data quality criteria
and if additional information on the identified hazard endpoints are not available or would not
alter the analysis.
The cancer mode of action (MOA) determines how cancer risks can be quantitatively evaluated.
If cancer hazard is determined to be applicable to p-dichlorobenzene, EPA plans to evaluate
information on genotoxicity and the mode of action for all cancer endpoints to determine the
appropriate approach for quantitative cancer assessment in accordance with the U.S. EPA
Guidelines for Carcinogen Risk Assessment ( €5).
4) Derive points of departure (PODs) where appropriate; conduct benchmark dose modeling
depending on reasonably available data. Adjust the PODs as appropriate to conform (e.g.,
adjust for duration of exposure) to the specific exposure scenarios evaluated.
Hazard data will be evaluated to determine the type of dose-response modeling that is applicable.
Where modeling is feasible, a set of dose-response models that are consistent with a variety of
potentially underlying biological processes will be applied to empirically model the dose-
response relationships in the range of the observed data consistent with EPA's Benchmark Dose
Technical Guidance Document. Where dose-response modeling is not feasible, NOAELs or
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LOAELs will be identified. Non-quantitative data will also be evaluated for contribution to
weight of the scientific evidence or for evaluation of qualitative endpoints that are not
appropriate for dose-response assessment.
EPA plans to evaluate whether the available PBPK and empirical kinetic models are adequate for
route-to-route and interspecies extrapolation of the POD, or for extrapolation of the POD to
standard exposure durations (e.g., lifetime continuous exposure). If application of the PBPK
model is not possible, oral PODs may be adjusted by BW3'4 scaling in accordance with
Ł , and inhalation PODs may be adjusted by exposure duration and chemical properties in
accordance with U.S. EPA. (1994).
5) Evaluate the weight of the scientific evidence of human health hazard data.
During risk evaluation, the EPA plans to evaluate and integrate the human health hazard
evidence identified in the literature inventory under acute and chronic exposure conditions using
the methods described in the systematic review documentation that EPA plans to publish prior to
finalizing the scope document.
6) Consider the route(s) of exposure (oral, inhalation, dermal), available route-to-route
extrapolation approaches, available biomonitoring data and available approaches to
correlate internal and external exposures to integrate exposure and hazard assessment.
At this stage of review, EPA believes there will be sufficient data to conduct dose-response
analysis and/or benchmark dose modeling for the oral route of exposure. EPA also plans to
evaluate any potential human health hazards following dermal and inhalation exposure to p-
dichlorobenzene, which could be important for worker, consumer, and general population risk
analysis. Reasonably available data will be assessed to determine whether or not a point of
departure can be identified for the dermal and inhalation routes. This may include using route-to-
route extrapolation methods where appropriate and depending on the nature of reasonably
available data.
If sufficient toxicity studies are not identified in the literature search to assess risks from dermal
and inhalation exposures, then a route-to-route extrapolation from oral toxicity studies would be
needed to assess systemic risks from dermal or inhalation exposures. Without an adequate PBPK
model, the approaches described in EPA guidance document Risk Assessment Guidance for
Superfund Volume I: Human Health Evaluation Manual (Part E, Supplemental Guidance for
Dermal Risk Assessment) (U.S. EPA. 2004) could be applied to extrapolate from oral to dermal
exposure. These approaches may be able to further inform the relative importance of dermal
exposures compared with other routes of exposure. Similar methodology may also be used for
assessing inhalation exposures
2.7.4 Summary of Risk Approaches for Characterization
Risk characterization is an integral component of the risk assessment process for both environmental and
human health risks. EPA plan to derive the risk characterization in accordance with EPA's Risk
Characterization Handbook (U.S. EPA. 2000). As defined in EPA's Risk Characterization Policy, "the
risk characterization integrates information from the preceding components of the risk evaluation and
synthesizes an overall conclusion about risk that is complete, informative and useful for decision
makers." Risk characterization is considered to be a conscious and deliberate process to bring all
important considerations about risk, not only the likelihood of the risk but also the strengths and
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limitations of the assessment, and a description of how others have assessed the risk into an integrated
picture.
The level of information contained in each risk characterization varies according to the type of
assessment for which the characterization is written. Regardless of the level of complexity or
information, the risk characterization for TSCA risk evaluations will be prepared in a manner that is
transparent, clear, consistent, and reasonable (U.S. EPA. 2000) and consistent with the requirements of
the Procedures for Chemical Risk Evaluation Under the Amended Toxic Substances Control Act (82 FR
6). For instance, in the risk characterization summary, the EPA plans to further carry out the
obligations under TSCA Section 26; for example, by identifying and assessing uncertainty and
variability in each step of the risk evaluation, discussing considerations of data quality such as the
reliability, relevance and whether the methods utilized were reasonable and consistent, explaining any
assumptions used, and discussing information generated from independent peer review.
EPA plans to also be guided by EPA's Information Quality Guidelines ( 302) as it provides
guidance for presenting risk information. Consistent with those guidelines, in the risk characterization,
EPA plans to also identify: (1) Each population addressed by an estimate of applicable risk effects; (2)
the expected risk or central estimate of risk for affected PESS; (3) each appropriate upper-bound or
lower bound estimate of risk; (4) each significant uncertainty identified in the process of the assessment
of risk effects and the studies that would assist in resolving the uncertainty; and (5) peer reviewed
studies known to the Agency that support, are directly relevant to, or fail to support any estimate of risk
effects and the methodology used to reconcile inconsistencies in the scientific information.
2.8 Peer Review
Peer review will be conducted in accordance with EPA's regulatory procedures for chemical risk
evaluations, including using EPA's Peer Review Handbook and other methods consistent with Section
26 of TSCA (See 40 CFR 702.45). As explained in the Risk Evaluation Rule, the purpose of peer review
is for the independent review of the science underlying the risk assessment. Peer review will therefore
address aspects of the underlying science as outlined in the charge to the peer review panel such as
hazard assessment, assessment of dose-response, exposure assessment, and risk characterization. The
draft risk evaluation for HHCB will be peer reviewed.
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Agricultural Pesticides. HERO ID: 5097880
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HERO ID 42805
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Monochlorobenzene (CASRN 108-90-7) (CA Index Name: Benzene, chloro-); 1,2-Dichlorobenzene
(CASRN 95-50-1) (CA Index Name: Benzene, 1,2-dichloro-); 1,3-Dichlorobenzene (CASRN 541-73-1)
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5113349
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of chemical substances for risk evaluation: Definitions. Washington, DC. HERO ID: 5165395
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Dichlorobenzene (CASRN 106-46-7) as a High Priority Substance for Risk Evaluation. Office of
Chemical Safety and Pollution Prevention, https://www.epa.gov/sites/production/files/2019-
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search. HERO ID: 6127841
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halogenated compounds under environmental conditions. Biodegradation. 3: 265-284.
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Determination of the vapor pressure, aqueous solubility, and octanol/water partition coefficient
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Yalkowsky, SH; He, Y; Jain, P. (2010). Handbook of aqueous solubility data (2nd ed.). Boca Raton, FL:
CRC Press. http://dx.doi.org/10.1201/EBK1439802458. HERO ID: 2990992
61
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APPENDICES
Appendix A LIST OF GRAY LITERATURE SOURCES
TableApx A-l. Gray Literature Sources that yielded results for />-Dichlorobenzene
<*Sourcr/.\gcnc>
Source Name
Source T\ pe
Source (jtfes>or\
AT SDR
ATSDR Tox Profile
Updates and
Addendum s
Other US Agency
Resources
Assessment or Related
Document
AT SDR
ATSDR Toxicological
Profiles (original
publication)
Other US Agency
Resources
Assessment or Related
Document
Australian
Government
Department of
Health.
NICNAS Assessments
(human health. Tier I, 11
or 111)
International Resources
Assessment or Related
Document
CAL EPA
Technical Support
Documents for
regulations: Cancer
Potency Information
Other US Agency
Resources
Assessment or Related
Document
CAL EPA
Technical Support
Documents for
regulations: Reference
Exposure Levels (RELs)
Other US Agency
Resources
Assessment or Related
Document
CAL EPA
Technical Support
Documents for
regulations: Proposition
65, Cancer
Other US Agency
Resources
Assessment or Related
Document
CAL EPA
Technical Support
Documents for
regulations: Drinking
Water Public Health
Goals
Other US Agency
Resources
Assessment or Related
Document
CDC
CDC Biomonitoring
Tables
Other US Agency
Resources
Database
ECHA
European Union Risk
Assessment Report
International Resources
Assessment or Related
Document
62
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4 s Sou rce/A«enc\
Source Vtnie
Source 1 \ pe
Source C;tteuor\
ECHA
Annex XV Restriction
Report
International Resources
Assessment or Related
Document
Env Canada
Priority Substances List
Assessment Report;
State of Science Report,
Environment Canada
Assessment
International Resources
Assessment or Related
Document
Env Canada
Chemicals at a Glance
(fact sheets)
International Resources
Assessment or Related
Document
Env Canada
Guidelines, Risk
Management,
Regulations
International Resources
Assessment or Related
Document
EPA
Office of Water:
STORET and WQX
US EPA Resources
Database
EPA
EPA Office of Water:
Ambient Water Quality
Criteria documents
US EPA Resources
Assessment or Related
Document
EPA
Office of Air: TRI
US EPA Resources
Database
EPA
EPA Pesticide Chemical
Search (docket)
US EPA Resources
Assessment or Related
Document
EPA
Office of Air: AQS,
Annual
US EPA Resources
Database
EPA
TSCA. Hazard
Characterizations
US EPA Resources
Assessment or Related
Document
EPA
Office of Air: National
Emissions Inventory
(NEI) - National
Emissions Inventory
(NEI) Data (2014, 201 1,
2008)
US EPA Resources
Database
EPA
Other EPA: Misc
sources
US EPA Resources
General Search
EPA
EPA: AP-42
US EPA Resources
Regulatory Document or
List
63
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Sou ret'/. \ueti c_\
Source Vtnse
Source I j pe
Source C:tteuor\
EPA
TRI: Envirofacts Toxics
Release Inventory 2017
Updated Dataset
US EPA Resources
Database
EPA
Chemical Data
Reporting (2012 and
2016 non-CBI CDR
database)
US EPA Resources
Database
EPA
Chemical Data
Reporting (2012 and
2016 CB1 CDR
database)
US EPA Resources
Database
EPA
EPA: Generic Scenario
US EPA Resources
Assessment or Related
Document
EPA
EPA Discharge
Monitoring Report Data
US EPA Resources
Database
EPA
Office of Water:
Drinking Water
Standards Health
Effects Support
Documents
US EPA Resources
Regulatory Document or
List
EPA
Office of Air: CFRs and
Dockets
US EPA Resources
Regulatory Document or
List
FDA
FDA Market Baskets
Other US Agency
Resources
Assessment or Related
Document
I ARC
I ARC Monograph
International Resources
Assessment or Related
Document
Japan
Japanese Ministry of the
Environment
Assessments -
Environmental Risk
Assessments (Class I
Designated Chemical
Substances Summary
Table)
International Resources
Regulatory Document or
List
KOECT
Kirk-Othmer
Encyclopedia of
Other Resource
Encyclopedia
64
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4 s Sou rrc/Agenc>
Source Vtnie
Source 1 \ pe
Source C;tteuor\
Chemical Technology
Journal Article
NIOSH
CDC NIOSH-
Occupational Health
Guideline Documents
Other US Agency
Resources
Assessment or Related
Document
NIOSH
CDC NIOSH - Pocket
Guides
Other US Agency
Resources
Database
NIOSH
CDC NIOSH - Health
Hazard Evaluations
(HHEs)
Other US Agency
Resources
Assessment or Related
Document
NLM
National Library of
Medicine's Hazardous
Substance Databank
Other US Agency
Resources
Database
NLM
National Library of
Medicine's HazMap
Other US Agency
Resources
Database
NTP
Technical Reports
Other US Agency
Resources
Assessment or Related
Document
OECD
OECD Emission
Scenario Documents
International Resources
Assessment or Related
Document
OECD
OECD: General Site
International Resources
General Search
OSHA
OSHA Chemical
Exposure Health Data
Other US Agency
Resources
Database
OSHA
U.S. OSHA Chemical
Exposure Health Data
(CEHD) program data
[ERG]
Other US Agency
Resources
Database
RIVM
Integrated Critera
Documents
International Resources
Assessment or Related
Document
RIVM
RIVM Reports: Risk
Assessments
International Resources
Assessment or Related
Document
TERA
Toxicology Excellence
for Risk Assessment
Other Resources
Assessment or Related
Document
65
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Appendix B Physical and Chemical Properties ofp-Dichlorobenzene
This appendix provides p-chem information and data found in preliminary data gathering for p-
dichlorobenzene. Table Apx B-l summarizes the p-chem property values preliminarily selected for use
in the risk evaluation from among the range of reported values collected as of March 2020. This table
differs from that presented in the Promised Designation of y-Dichlorobenzem (CASRN106-46-7) as a
High Priority Substance for Risk Evaluation (U.S. EPA, 2019a) and may be updated as EPA collects
additional information through systematic review methods. All p-chem property values that were
extracted and evaluated as of March 2020 are presented in the supplemental file Data Extraction and
Data Evaluation Tables for Physical Chemical Property Studies (EPA-H.) 1-2018-0462).
Table Apx B-l. Physical and Chemical Properties of p-Dichlorobenzene
Properly or Kmlpoinl
Value"
Reference
Data Quality
Kill in«
Molecular formula
C6H4Cl2
NA
NA
Molecular weight
147.00 g/mol
NA
NA
Physical state
Solid monoclinic
prisms, leaves
Rumble, 2018
High
Physical properties
Distinctive aromatic
odor, becomes very
strong at concentrations
between 30 and 60 pptn
NLM, 2018
High
Melting point
53.1°C
Rumble, 2018
High
Boiling point
174°C
U.S. EPA, 2018
High
Density
1.46 g/crn3 at 20°C
O'Neil, 2013
High
Vapor pressure
1.3 mm Hg
RSC, 2019
High
Vapor density
5.08 (air = 1)
NLM, 2018
High
Water solubility
81.4 mu/1. at 25 T
Shin, 1997
High
Log Octanol/water partition
coefficient (Log Kow)
3.52 at 22±0.2°C
(Calculated from
experimental retention
times)
Verbruggen, 1999
High
Henry's Law constant
0.00241 atm-m'/mol at
25°C
Rumble, 2018
High
66
-------
Propcrlv or Kmlpoinl
\ Slllll"1
UeferciKT
Dsilsi Qusililv
K;i( in«
Flash point
65.56°C (closed cup)
O'Neil, 2013
High
Auto flammability
Not available
Viscosity
0.839 cP at 55°C
NLM, 2018
High
Refractive index
1.5285
O'Neil, 2013
High
Dielectric constant
2.3943 at 55°C
NLM, 2018
High
a Measured unless otherwise noted.
NA = Not applicable
67
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Appendix C ENVIRONMENTAL FATE AND TRANSPORT
PROPERTIES
Table Apx C-l provides the environmental fate characteristics that EPA identified and considered in
developing the scope for /;-dichlorobenzene.
Table Apx C-l. Environmental Fate Characteristics of p-Dichlorobenzene
Properly or
K ml point
Value
Reference
Direct
Photodegradati on
Does not contain chromophores that absorb
at wavelengths >290 nm; not expected to
undergo direct photolysis by sunlight
. )B (2018)
Indirect
Photodegradati on
ti/2 = 33 days (based on 12-hour day with
1.5 x 106 OH/cm3 and -OH rate constant
3.2 x 10"13 cmVmol-second at 25 °C)
PhysProp Database
2012b) citing Atkinson (1989)
Hydrolysis
Stable; />dichlorobenzene is not expected
to undergo hydrolysis based on its
chemical structure, which lacks functional
groups known to undergo hydrolysis under
environmental conditions
H.SDB C
Biodegradation
(Aerobic)
Water: 0%/28 days based on theoretical
BOD and HPLC using an activated sludge
inoculum (Japanese MITI test; improved
for a volatile substance; initial test
substance concentration of 100 mg/L)
H.SDB (2018) citing NITE (2010)
Water: 80%/ 28 days mineralization and
30%/28 days with initial test substance
concentrations of 8 and 40 mg/L,
respectively (test comparable to MITI [I]
test)
ECHA (2004)
1.4%/8 days, 49.5%/15 days, and 67%/28
days based on test substance analysis and
initial test substance concentration of 1.9
mg/L (OECD 301D, closed bottle test); p-
dichlorobenzene meets the 10-day window
and is readily biodegradable at lower
concentrations but toxic effect at higher
concentrations is likely
Soil: 6.3%/10 weeks based on theoretical
CO2 evolution in an alkaline soil sample
reported for dichlorobenzene isomers
HSDB (2018) citing Haider et al.
(1974)
68
-------
Properly or
K ml point
\;il tic
UofomuT
Sediment 25 and W'n 3<)i) da\s inculxilion
in soil column experiments with sediment
from the Rhine River
citing \ an dcr Nicer
etal. (1992)
Biodegradation
(Anaerobic)
Sediment: no biotransformation/12 months
in anaerobic Rhine River sediment column
H.SDB (2018) citing Bosma et al.
(1990)
Groundwater: 7.4 mg/m3/day
biodegradation rate in vadose zone in New
Jersey measured above polluted
groundwater at DuPont Chambers Works
H.SDB C citing Kurt etal.
(2013)
Wastewater
Treatment
76% total removal (46% by
biodegradation, 7.1% by sludge, and 23%
by volatilization to air; estimated)13
1012a)
Bioconcentration
Factor
370-720 (rainbow trout)
78 (mosquito fish)
HSDB (2018) citing Chaisukant
(1997) and Oliver and Niimi
(1983)
33-190 (Cyprinus carpio\ OECD 305)
NITE (2
Ranged from 60 (Lepomis macrochirus;
whole-body wet weight) to 1,800 (Poecilia
reticulata, total lipid content and BCF of
270 based on whole-body dry weight)
ECHA ( (range from eight
study summaries)
Bioaccumulation
Factor
281 (estimated)13
>012a)
Soil Organic
Carbon:Water
Partition Coefficient
(Log Koc)
2.44 (Koc = 273; batch equilibrium method
equivalent to OECD 106)
DR (2006) citing Chiou et al.
(1983); ECHA. (2.019)
aMeasured unless otherwise noted
bEPI Suite™ physical property inputs: Log K0w = 3.44, BP = 174 °C, MP = 52.09 °C, VP = 1.74 mm Hg, WS = 81.3 mg/L,
HLC = 0.00241 atm-m3/mol, STP Exp. biodeg values of BIOP = 40, BioA = 10 and BioS = 10, SMILES c(ccc(cl)Cl)(cl)Cl
J OH = hydroxyl radical; HPLC = high performance liquid chromatography; BOD = biological oxygen demand; OECD =
Organisation for Economic Cooperation and Development; MITI = Ministry of International Trade and Industry
69
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Appendix D REGULATORY HISTORY
The chemical substance,/>-dichlorobenzene, is subject to federal and state laws and regulations in the
United States TableApx D-l and Table_Apx D-2. Regulatory actions by other governments, tribes and
international agreements applicable to />dichlorobenzene are listed in Table Apx D-3.
D.l Federal Laws and Regulations
Table Apx D-l. Federal Laws and Regulations
Mat utcs/Uegulal ions
Description of AiilhorilY/Ucgulalion
Description of
Regulation
EPA Regulations
Toxic Substances
Control Act (TSCA) -
Section 6(b)
EPA is directed to identify high-priority
chemical substances for risk evaluation; and
conduct risk evaluations on at least 20 high
priority substances no later than three and
one-half years after the date of enactment of
the Frank R. Lautenberg Chemical Safety for
the 21st Century Act.
p-Dichlorobenzene is one
of the 20 chemicals EPA
designated as a High-
Priority Substance for risk
evaluation under TSCA
(84 FR 71924, December
30, 2019). Designation of
/;-dichlorobenzene as
high-priority substance
constitutes the initiation of
the risk evaluation on the
chemical.
Toxic Substances
Control Act (TSCA) -
Section 8(a)
The TSCA Section 8(a) CDR Rule requires
manufacturers (including importers) to give
EPA basic exposure-related information on
the types, quantities and uses of chemical
substances produced domestically and
imported into the United States
p-Di chl orob enzene
manufacturing (including
importing), processing
and use information is
reported under the CDR
rule ( 316.
August 16, 2011).
Toxic Substances
Control Act (TSCA) -
Section 8(b)
EPA must compile, keep current and publish
a list (the TSCA Inventory) of each chemical
substance manufactured (including imported)
or processed in the United States.
/;-Dichlorobenzene was
on the initial TSCA
Inventory and therefore
was not subject to EPA's
new chemicals review
process under TSCA
Section 5 C60 FR 16309.
March 29, 1995).
70
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SisiliiU's/Ucguliili01"
Description of Aiilliorily/Ucgiihition
Description ol'
Toxic Substances
Control Act (TSCA) -
Section 8(e)
Manufacturers (including importers),
processors, and distributors must immediately
notify EPA if they obtain information that
supports the conclusion that a chemical
substance or mixture presents a substantial
risk of injury to health or the environment.
There are three risk
reports for p-
dichlorobenzene received
between 1998-2002 (U.S.
EPA, ChemView
Accessed 4/5/2019)
Toxic Substances
Control Act (TSCA) -
Section 4
Provides EPA with authority to issue rules
and orders requiring manufacturers (including
importers) and processors to test chemical
substances and mixtures.
2 notifications of
chemical data submissions
from test rules received
for p-dichlorobenzene:
Two chemical data
submissions from test
rules received for p-
dichlorobenzene (One was
a 2005 Metabolism and
Pharmacokinetics study
(In Vitro Dermal
Absorption Rate Testing).
The other was a 1989
Reproductive toxicity
study (Two Generation
Reproduction Study)).
(U.S. EPA, ChemView.
Accessed March 28,
2019).
Emergency Planning
and Community
Right-To-Know Act
(EPCRA) - Section
313
Requires annual reporting from facilities in
specific industry sectors that employ 10 or
more full-time equivalent employees and that
manufacture, process or otherwise use a TRI-
listed chemical in quantities above threshold
levels. A facility that meets reporting
requirements must submit a reporting form
for each chemical for which it triggered
reporting, providing data across a variety of
categories, including activities and uses of the
chemical, releases and other waste
management (e.g., quantities recycled,
treated, combusted) and pollution prevention
activities (under Section 6607 of the Pollution
Prevention Act). These data include on- and
off-site data as well as multimedia data (i.e.,
air, land and water).
/;-Dichlorobenzene (1,4-
Dichlorobenzene) is a
listed substance subject to
reporting requirements
under 40 CFR 372.65
effective as of January 1,
1987.
71
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SisiliiU's/Ucguliili01"
Description of Aiilliorily/Ucgiihition
Description ol'
Federal Insecticide,
Fungicide, and
Rodenticide Act
(FIFRA) - Sections 3
and 6
FIFRA governs the sale, distribution and use
of pesticides. Section 3 of FIFRA generally
requires that pesticide products be registered
by EPA prior to distribution or sale.
Pesticides may only be registered if, among
other things, they do not cause "unreasonable
adverse effects on the environment." Section
6 of FIFRA provides EPA with the authority
to cancel pesticide registrations if either (1)
the pesticide, labeling, or other material does
not comply with FIFRA; or (2) when used in
accordance with widespread and commonly
recognized practice, the pesticide generally
causes unreasonable adverse effects on the
environment.
/>Dichlorobenzene was
first registered as an
antimicrobial and
conventional chemical
insecticide on June
15,1948. EPA issued the
revised reregistration
Eligibility Decision
(RED) for p-
dichlorobenzene (p-
dichlorobenzene) on
December 29, 2008. All
antimicrobial uses ofp-
dichlorobenzene were
cancelled at the time of
the RED in 2008. As of
2020, of the Section 3
registrations forp-
dichlorobenzene the
majority of the pesticidal
uses are as a moth
repellant to protect
garments from insect
damage. There are no
outdoor uses registered
for /^-dichlorobenzene. In
November 2018, OPP
completed a Human
Health Assessment ofp-
dichlorobenzene in
support of its Registration
Review, under the 15-year
cycle (U.S. EPA, 2018b).
OPP is planning to issue a
Proposed Interim
Decision on pesticidal
uses of /^-dichlorobenzene
in FY 2020.
Clean Air Act (CAA) -
Section 111(b)
Requires EPA to establish new source
performance standards (NSPS) for any
category of new or modified stationary
sources that EPA determines causes, or
contributes significantly to, air pollution,
/^-Dichlorobenzene is
subject to the NSPS for
equipment leaks of
volatile organic
compounds (VOCs) in the
72
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SisiliiU's/Ucguliili01"
Description of Aiilliorily/Ucgiihition
Description ol'
which may reasonably be anticipated to
endanger public health or welfare. The
standards are based on the degree of emission
limitation achievable through the application
of the best system of emission reduction
(BSER) which (taking into account the cost of
achieving reductions and environmental
impacts and energy requirements) EPA
determines has been adequately demonstrated.
synthetic organic
chemicals manufacturing
industry for which
construction,
reconstruction or
modification began after
January 5, 1981
Clean Air Act (CAA) -
Section 112(b)
Defines the original list of 189 hazardous air
pollutants (HAPs). Under 112(c) of the CAA,
EPA must identify and list source categories
that emit HAP and then set emission
standards for those listed source categories
under CAA Section 112(d). CAA Section
112(b)(3)(A) specifies that any person may
petition the Administrator to modify the list of
HAP by adding or deleting a substance. Since
1990, EPA has removed two pollutants from
the original list leaving 187 at present.
/>Dichlorobenzene is
listed as a HAP (63 FR
71381, December 28,
1998)
Clean Air Act (CAA) -
Section 112(d)
Directs EPA to establish, by rule, NESHAPs
for each category or subcategory of listed
major sources and area sources of HAPs
(listed pursuant to Section 112(c)). For major
sources, the standards must require the
maximum degree of emission reduction that
EPA determines is achievable by each
particular source category. This is generally
referred to as maximum achievable control
technology (MACT). For areas sources, the
standards must require generally achievable
control technology (GACT) though may
require MACT.).
EPA has established
NESHAPs for a number
of source categories that
emit />dichlorobenzene to
air. (See
httos ://www. eoa. gov/ stati
onarv-sources-air-
Dollution/national-
emission-standards-
hazardous-air-Dollutants-
neshap-9)
Clean Air Act (CAA)
- Section 183(e)
Section 183(e) requires EPA to list the
categories of consumer and commercial
products that account for at least 80 percent of
all VOC emissions in areas that violate the
National Ambient Air Quality Standards
(NAAQS) for ozone and to issue standards for
these categories that require "best available
controls." In lieu of regulations, EPA may
issue control techniques guidelines if the
/;-Dichlorobenzene is
listed under the National
Volatile Organic
Compound Emission
Standards for Aerosol
Coatings (40 CFR part 59,
subpart E ).p-
dichlorobenzene has a
73
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SisiliiU's/Ucguliili01"
Description of Aiilliorily/Ucgiihition
Description ol'
guidelines are determined to be substantially
as effective as regulations.
reactivity factor of .20 g
03/g VOC.
Clean Water Act
(CWA) - Section
304(a)(1)
Requires EPA to develop and publish ambient
water quality criteria (AWQC) reflecting the
latest scientific knowledge on the effects on
human health that may be expected from the
presence of pollutants in any body of water.
In 2015, EPA published
updated AWQC for p-
dichlorobenzene,
including a
recommendation of 300
(|ig/L) for "Human Health
for the consumption of
Water + Organism" and
900 (|ig/L) for "Human
Health for the
consumption of Organism
Only"
for states and authorized
tribes to consider when
adopting criteria into their
water quality standards.
Clean Water Act
(CWA) - Section
301(b), 304(b), 306,
207(a) and 307(b)
Clean Water Act Section 307(a) establishes a
list of toxic pollutants or combination of
pollutants under the CWA. The statue
specifies a list of families of toxic pollutants
also listed in the Code of Federal Regulations
at 40 CFR Part 401.15. The "priority
pollutants" specified by those families are
listed in 40 CFR Part 423 Appendix A. These
are pollutants for which best available
technology effluent limitations must be
established on either a national basis through
rules (Sections 301(b), 304(b), 307(b), 306) or
on a case-by-case best professional judgement
basis in NPDES permits, see Section
402(a)(1)(B). EPA identifies the best
available technology that is economically
achievable for that industry after considering
statutorily prescribed factors and sets
regulatory requirements based on the
performance of that technology.
/;-Dichlorobenzene is
designated as a toxic
pollutant and a priority
pollutant under Section
307(a)(1) of the CWA and
as such is subject to
effluent limitations. Under
CWA Section 304,/?-
dichlorobenzene is
included in the list of total
toxic organics (TTO) (40
CFR 413.02(i)).
Clean Water Act
(CWA) - Section
311(b)(2)(A) and
501(a) of the Federal
Requires EPA to develop, promulgate, and
revise as may be appropriate, regulations
designating as hazardous substances, other
than oil, which, when discharged present an
/;-Dichlorobenzene is a
designated hazardous
substance in accordance
with Section 311(b)(2)(A)
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SisiliiU's/Ucguliili01"
Description of Aiilliorily/Ucgiihition
Description ol'
Water Pollution
Control Act.
imminent and substantial danger to the public
health or welfare, including, but not limited
to, fish, shellfish, wildlife, shorelines, and
beaches.
of the Federal Water
Pollution Control Act. (40
FR 116.4, March 13,
1978).
Safe Drinking Water
Act (SDWA) - Section
1412
Requires EPA to publish non-enforceable
maximum contaminant level goals (MCLGs)
for contaminants which 1. may have an
adverse effect on the health of persons; 2. are
known to occur or there is a substantial
likelihood that the contaminant will occur in
public water systems with a frequency and at
levels of public health concern; and 3. in the
sole judgement of the Administrator,
regulation of the contaminant presents a
meaningful opportunity for health risk
reductions for persons served by public water
systems. When EPA publishes an MCLG,
EPA must also promulgate a National
Primary Drinking Water Regulation
(NPDWR) which includes either an
enforceable maximum contaminant level
(MCL), or a required treatment technique.
Public water systems are required to comply
with NPDWRs.
/;-Dichlorobenzene is
subject to NPDWR under
the SDWA with a MCLG
of 0.075 (mg/L)2 and an
enforceable MCL of 0.075
(mg/L)2 (Section 1412)
(52 FR 25690, January 30,
1991).
Resource Conservation
and Recovery Act
(RCRA) - Section
3001
Directs EPA to develop and promulgate
criteria for identifying the characteristics of
hazardous waste, and for listing hazardous
waste, taking into account toxicity,
persistence, and degradability in nature,
potential for accumulation in tissue and other
related factors such as flammability,
corrosiveness, and other hazardous
characteristics.
/;-Dichlorobenzene is
included on the list of
hazardous wastes pursuant
to RCRA 3001.
RCRA Hazardous Waste
Codes: D027 and U072
(40 CFR 261.24 and
261.33).
Comprehensive
Environmental
Response,
Compensation and
Liability Act
(CERCLA) - Sections
102(a) and 103
Authorizes EPA to promulgate regulations
designating as hazardous substances those
substances which, when released into the
environment, may present substantial danger
to the public health or welfare or the
environment.
EPA must also promulgate regulations
establishing the quantity of any hazardous
/;-Dichlorobenzene is a
hazardous substance
under CERCLA. Releases
of p-dichlorobenzene in
excess of 100 pounds
must be reported (40 CFR
302.4).
75
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Slat iilcs/Uegulat ions
Description of AiilhorilY/Ucgulation
Description ol'
Regulation
substance the release of which must be
reported under Section 103.
Section 103 requires persons in charge of
vessels or facilities to report to the National
Response Center if they have knowledge of a
release of a hazardous substance above the
reportable quantity threshold.
Superfund
Amendments and
Reauthorization Act
(SARA)-
Requires the Agency to revise the hazardous
ranking system and update the National
Priorities List of hazardous waste sites,
increases state and citizen involvement in the
superfund program and provides new
enforcement authorities and settlement tools.
p-Dichlorobenzene is
listed on SARA, an
amendment to CERCLA
and the CERCLA Priority
List of Hazardous
Substances. This list
includes substances most
commonly found at
facilities on the CERCLA
National Priorities List
(NPL) that have been
deemed to pose the
greatest threat to public
health.
Other Federal Regulations
Occupational Safety
and Health Act
(OSHA)
Requires employers to provide their workers
with a place of employment free from
recognized hazards to safety and health, such
as exposure to toxic chemicals, excessive
noise levels, mechanical dangers, heat or cold
stress or unsanitary conditions (29 U.S.C
Section 651 et seq.).
Under the Act, OSHA can issue occupational
safety and health standards including such
provisions as Permissible Exposure Limits
(PELs), exposure monitoring, engineering and
administrative control measures, and
respiratory protection.
OSHA issued
occupational safety and
health standards for p-
dichlorobenzene including
a PEL of 75 ppm TWA,
exposure monitoring,
control measures and
respiratory protection (29
CFR 1910.1000).
Federal Hazardous
Materials
Transportation Act
(HMTA)
Section 5103 of the Act directs the
Secretary of Transportation to:
• Designate material (including an
explosive, radioactive material, infectious
substance, flammable or combustible
liquid, solid or gas, toxic, oxidizing or
corrosive material, and compressed gas)
/;-Dichlorobenzene is listed
as a hazardous material
with regard to
transportation and is
subject to regulations
prescribing requirements
applicable to the shipment
76
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Slsiliilcs/Ucgiilsitions
Description ol' Aiilhorily/Ucgiihition
Description ol'
Kc«iil;ilion
as hazardous when the Secretary
determines that transporting the material
in commerce may pose an unreasonable
risk to health and safety or property.
• Issue regulations for the safe
transportation, including security, of
hazardous material in intrastate, interstate
and foreign commerce.
and transportation of listed
hazardous materials (49
CFR 172.101) (70 FR
34381, June 14 2005).
Federal Food, Drug and
Cosmetic Act (FFDCA)
Provides the FDA with authority to oversee
the safety of food, drugs and cosmetics.
As a food contact substance FDA does not use
"indirect food additive" as a regulatory term
anymore. Since about 2000, the regulatory term
for things previously categorized as "indirect
food additives" is "food contact substance"
"FDA established a maximum residual level of
0.8 ppm of /;-dichlorobenzene as an indirect
food additive in food contact polymers (21 CFR
177.2490).""
/;-Dichlorobenzene is listed
as a food contact substance
in food contact polymers,
specifically in
polyphenylene sulfide
resins in coatings or
components of coatings of
articles intended for
repeated use in contact with
food. FDA established a
maximum residual level of
0.8 ppm ofp-
dichlorobenzene as a food
contact substance in food
contact polymers (21 CFR
177.2490).
D.2 State Laws and Regulations
Table Apx D-2. State Laws and Regulations
Sliiic Actions
Description ol' Action
State Air
Regulations
Allowable Ambient Levels [New Hampshire has an 800 24-hour AAL
mg/m3 (Env-A 1400: Regulated Toxic Air Pollutants). Rhode Island has set a
lhour AAL of 12,000 mg/m3 and a 24-hour AAL of 800 mg/m3 and an
annual AAL of .09 mg/m3 (Rhode Island Air Pollution Regulation No. 22)]
State Drinking
Water Standards
and Guidelines
Arizona set an MCL of .075 mg/L and an MCLG of 0.075 mg/L (14 Ariz.
Admin. Register 2978, August 1, 2008), California set an MCL of .0005
mg/L, a DLR of .0005 and a PHG of .006 mg/1 in 1997 (Cal Code Regs.
Title 26, § 22-64444),
Delaware set an MCL of 0.075 mg/L and MCLG of 75 mg/L (Del. Admin.
Code Title 16, § 4462),
77
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Sliiic Actions
Description of Action
Connecticut set an MCL of 0.075 mg/L (Conn. Agencies Regs. § 19-13-
B102),
Florida set an MCL of 75 mg/L (Fla. Admin. Code R. Chap. 62-550),
Maine set an MCL of 0.075 mg/L (10 144 Me. Code R. Chap. 231),
Massachusetts set an MCL of 0.005 mg/L (310 Code Mass. Regs. § 22.00),
Michigan set drinking water criteria of 75 mg/L (Mich. Admin. Code
r.299.44 and r.299.49, 2017),
Minnesota set an MCL of 10 mg/L (Minn R. Chap. 4720),
New Jersey adopted Federal MCL of 75 mg/L (7:10 N.J Admin. Code § 5.2),
Pennsylvania set an MCL of 0.075 mg/L (25 Pa. Code § 109.202),
Rhode Island set an MCL of 75 mg/L (Rules and Regulations Pertaining to
Public Drinking Water R46-13-DWQ).
State PELs
California PEL of 10 ppm and a STEL of 110 ppm) (Cal Code Regs. Title 8,
§5155)
Hawaii PEL of 75 ppm and 450 mg/m3d and a STEL of 110 ppm and 675
mg/m3d (Hawaii Administrative Rules Section 12-60-50).
State Right-to-
Know Acts
p-Dichlorobenzene is on the MA Toxic Use Reduction Act (TURA) list of
2019 (301 CMR 41.00 (105 Code Massachusetts. Regs. § 670.000 Appendix
A),
/;-Dichlorobenzene is a hazardous substance identified under New Jersey's
Worker and Community RTK Act which includes over 2000 hazardous
substances. New Jersey (N.J.A.C. 7:1G) and
Pennsylvania (P.L. 734, No. 159 and 34 Pa. Code § 323).
Chemicals of High
Concern to Children
Several states have adopted reporting laws for chemicals in children's
products containing /;-dichlorobenzene Maine designated />dichlorobenzene
as a chemical of concern (38 MRSA Chapter 16-D), and Minnesota lists p-
dichlorobenzene as a Chemical of High Concern (Toxic Free Kids Act Minn.
Stat. 116.9401 to 116.9407).
Volatile Organic
Compound (VOC)
Regulations for
Consumer Products
Many states regulate />dichlorobenzene as a VOC. These regulations may
set VOC limits for consumer products and/or ban the sale of certain
consumer products as an ingredient and/or impurity. Regulated products vary
from state to state and could include toilet and urinal care products and air
fresheners including in toilet bowls, urinals and animal holding facilities.
California prohibited />dichlorobenzene in solid air freshener and in
toilet/urinal care products effective 12/31/2005 with a sell through date of
12/31/2006. (Title 17, California Code of Regulations, Division 3, Chapter 1,
Subchapter 8.5, Articles 1, 2, 3 and 4),
Connecticut prohibits the sale, supply or manufacture of any solid air
freshener or toilet/urinal care product that contains p-dichlorobenzene
78
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Sliiic Actions
Description of Action
(R.C.S.A Sections 22a-174-40, 22a-174-41, and 22a-174-44), Delaware
(Adm. Code Title 7, 1141),
District of Columbia prohibits the sale, supply, manufacturer or use of solid
air fresheners or toilet/urinal care products that contain /;-dichlorobenzene
(Rule 729)
Illinois prohibits air fresheners containing p-dichlorobenzene (35 Adm Code
223),
Indiana adopted restrictions on /;-dichlorobenzene in VOC-containing
products (Article 8 Volatile Organic Compound Rule 326 IAC 8-15),
Maine adopted a ban effective January 1, 2010 on the sale, supply, and
manufacture of any solid air fresheners or Toilet/Urinal Care products that
contain p-dichlorobenzene. (Chapter 152 of the Maine Department of
Environmental Protection Regulations),
Maryland prohibits insecticides, solid air fresheners and toilet or urinal care
products containing /;-dichlorobenzene (COMAR 26.11.32.00 to
26.11.32.26),
New Hampshire prohibits fragrances containing />dichlorobenzene (Env-A
4100),
New Jersey prohibits solid air fresheners containing 98% by weightp-
dichlorobenzene (Title 7, Chapter 27, Subchapter 24),
New York prohibits solid air fresheners and toilet/urinal care products
containing /;-dichlorobenzene (6 CRR-NY III A 235),
Ohio prohibits />dichlorobenzene in toilet care products. (Chapter 3725-
112),
Pennsylvania prohibits /;-dichlorobenzene in toilet care products (Chapter
130, Subchapter B, Sections 130.201 through 130.471),
Rhode Island prohibits solid air fresheners and toilet/urinal care products
containing /;-dichlorobenzene (Air Pollution Control Regulation No. 31),
Utah limits toilet care and solid air fresheners to 3% by weight VOC (R 307-
357)
Virginia (9VAC5 CHAPTER 45) has VOC regulations or limits for
consumer products.
Other
California listed />dichlorobenzene on Proposition 65 in 1989 due to
carcinogenicity. (Cal Code Regs. Title 27, § 27001).
p-Dichlorobenzene is listed as a Candidate Chemical under California's
Safer Consumer Products Program (Health and Safety Code § 25252 and
25253).
California lists />dichlorobenzene as a designated chemical for
biomonitoring (California SB 1379).
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Stale Actions
Description of Action
California Department of Industrial Relations lists />dichlorobenzene as a
Hazardous Substance.
/;-Dichlorobenzene is on the MA Toxic Use Reduction Act (TURA) list of
2019(301 CMR 41.00)
D.3 International Laws and Regulations
TableApx D-3. Regulatory Actions by Other Governments, Tribes, and International
Agreements
Count rv/
Organization
Requirements ;tiul Restrictions
Canada
/;-Dichlorobenzene is on the Domestic Substances List (Government of
Canada. Managing substances in the environment. Substances Search.
Database accessed April 17, 2019). Other regulations include:
• Canada's National Pollutant Release Inventory (NPRI)
European Union
In 2014, a restriction on the sale of />dichlorobenzene as a substance or as
a constituent of mixtures in concentration equal to or greater than 1% by
weight, where the substance or the mixture is placed on the market for use
or used as an air freshener or deodorizer in toilets, homes, offices or other
indoor public areas. (Accessed 4/16/2019)
Australia
/;-Dichlorobenzene is subject to secondary notifications when importing
or manufacturing the chemical in Australia. In 2000, p-dichlorobenzene
was assessed (para-Dichlorobenzene. Priority Existing Chemical No. 13.
Full Public Report (2000)).
Japan
/;-Dichlorobenzene is regulated in Japan under the following legislation:
• Act on the Evaluation of Chemical Substances and Regulation of
Their Manufacture, etc. (Chemical Substances Control Law; CSCL)
• Act on Confirmation, etc. of Release Amounts of Specific Chemical
Substances in the Environment and Promotion of Improvements to the
Management Thereof
• Industrial Safety and Health Act (ISHA)
• Air Pollution Control Law
• Water Pollution Control Law
(National Institute of Technology and Evaluation [NITE] Chemical Risk
Information Platform [CHIRP]. Accessed April 12, 2019
80
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Country/
Orgsiniziilion
Requirements ;tiul Restrictions
Australia, Austria,
Belgium, Canada-
Ontario, Canada-
Quebec, Denmark,
European Union,
Finland, France,
Germany, Hungary
Ireland, Italy, Japan,
Latvia New Zealand,
People's Republic of
China, Poland,
Romania, Singapore,
South Korea, Spain,
Sweden, Switzerland,
The Netherlands,
Turkey, USA, United
Kingdom
Occupational exposure limits for /;-dichlorobenzene (GESTIS
International limit values for chemical agents (Occupational exposure
limits, OELs) database. Accessed April 15, 2019
81
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Appendix E PROCESS, RELEASE AND OCCUPATIONAL
EXPOSURE INFORMATION
This appendix provides information and data found in preliminary data gathering for /;-dichlorobenzene
E.l Process Information
Process-related information potentially relevant to the risk evaluation may include process diagrams,
descriptions and equipment. Such information may inform potential release sources and worker exposure
activities.
E.l.l Manufacture (Including Import)
The 2016 CDR reports five facilities that submitted activity data for 2015. Four of these facilities stated that
they imported/>dichlorobenzene in 2015. (U.S. EPA, 2016 [2016 CDR]). However, the fifth site reported
in their TRI Form R for reporting year 2015 that they import />dichlorobenzene for on-site use as a reactant
and they do not manufacturep-dichlorobenzene (U.S. EPA, 2015). Therefore, the information EPA has
identified to date indicates that />dichlorobenzene is not domestically manufactured and is only imported
into the United States.
E.l.1.1 Import
In general, chemicals may be imported into the United States in bulk via water, air, land, and intermodal
shipments (Tomer and Kane, 2015). These shipments take the form of oceangoing chemical tankers,
railcars, tank trucks, and intermodal tank containers. p-Dichlorobenzene is shipped either in molten form in
heated, insulated steel tank cars or in flake or granular solid form in sealed containers such as paper bags,
fiber packs, or drums (Kirk-Othmer, 2001). EPA has identified two importers of record that importp-
dichlorobenzene directly to their sites for on-site processing or use and three importers of record that import
/;-dichlorobenzene directly to other sites for processing or use (the importing sites of record do not directly
handle or store the imported/>dichlorobenzene) (U.S. EPA, 2016 [2016 CDR]).
E.1.2 Processing and Distribution
E.l.2.1 Processing as a Reactant or Intermediate
Processing as a reactant or intermediate is the use of />dichlorobenzene as a feedstock in the production of
another chemical product via a chemical reaction in which p-dichlorobenzene is consumed to form the
product. />-Dichlorobenzene is used as a feedstock in the manufacture of poly (phenylene sulfide) resins,
1,2,4-trichlorobenzene, dyes, and insecticide intermediates (Kirk-Othmer, 2001).
Exact operations for the use of />dichlorobenzene as a reactant to produce plastic materials and resins and
other chemicals are not known at this time. For using a chemical as a reactant, operations would typically
involve unloading the chemical from transport containers and feeding the chemical into a reaction vessel(s),
where the chemical would react either fully or to a lesser extent. Following completion of the reaction, the
produced substance may be purified further, thus removing unreacted />dichlorobenzene (if any exists).
One poly (phenylene sulfide) manufacturer has indicated their poly (phenylene sulfide) product may
contain up to 100 ppm of unreacted />dichlorobenzene (Solvay, 2020).
E. 1.2.2 Incorporated into a Formulation, Mixture or Reaction Product
Incorporation into a formulation, mixture or reaction product refers to the process of mixing or blending of
several raw materials to obtain a single product or preparation. EPA has identified the following product
formulations in which /?-dichlorobenzene is a component:
82
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• Plastic material and resin manufacturing: /;-dichlorobenzene is used as a feedstock in the manufacture of poly
(phenylene sulfide) resins, 1,2,4-trichlorobenzene, dyes, and insecticide intermediates (Kirk-Othmer, 2001).
• Air care products: />dichlorobenzene is an odor agent in air care products (U.S. EPA, 2016 [2016
CDR]; Kirk-Othmer, 2001).
The exact processes used to formulate products containing /;-dichlorobenzene are not known at this time.
E. 1.2.3 Incorporated into an Article
Incorporation into an article typically refers to a process in which a chemical becomes an integral
component of an article (as defined at 40 CFR 704.3) for distribution in commerce. EPA has identified the
following articles in which /;-dichlorobenzene is incorporated:
• Pesticide, fertilizer, and other agricultural chemical products: />dichlorobenzene is an active
pesticidal ingredient in pesticide products used for moth control (U.S. EPA, 2016 [2016 CDR];
CPID, 2020; Kirk-Othmer, 2001).
• Air care products: />dichlorobenzene is an odor agent in air care products (U.S. EPA, 2016 [2016
CDR]; Kirk-Othmer, 2001), such as toilet bowl deodorizers (CPID, 2020).
• Plastic products: /;-dichlorobenzene is used in the manufacture of polyphenyl sulfide (PPS), in high
heat thermoplastics. Thermoplastics are used in a variety of consumer and industrial/commercial
products including food contact materials (FDA), automotive brake systems, air valves, fuel rails,
transmission accumulator pistons and water pump impellers (Solvay 2020; U.S. EPA CPCat, EPA-
HQ-OPPT-2018-0446-0017)
• Pharmaceuticals and medicines: U.S. EPA's Chemical Use Report for/;-dichlorobenzene
(November 2019) identifies use of />dichlorobenzene as a chemical intermediate in the manufacture
of pharmaceutical products.
Exact process operations involved in the incorporation of />dichlorobenzene into these products are not
known at this time. Since p-dichlorobenzene is a solid in these articles, incorporation activities may include
unloading /;-dichlorobenzene from shipping containers, melting /;-dichlorobenzene into liquid form,
forming /;-dichlorobenzene into the desired shape, and cooling and solidifying the article at its desired
shape.
E.1.3 Uses
E.l.3.1 Building/Construction Materials
EPA has identified a single building and construction material product that contains />dichlorobenzene:
Touch n' Foam Mouse Shield. This building sealant is sold in a 12-ounce can and is used to spray a foam
sealant to seal gaps and cracks in buildings. The />dichlorobenzene provides a pest repellant function in the
product (DAP® Mouse Shield® Foam Sealant, 2019).
E.l.3.2 Lubricants and Greases
EPA has identified a single lubricant and grease product that contains />dichlorobenzene: Marvel Mystery
Oil, which is also identified under automotive care product category. A fuel additive from Marvel Oil
Company (2017) was found to contain <0.1 wt% />dichlorobenzene, as per its safety data sheet (SDS)
(Marvel Mystery Oil, 2017). Additional details are available in Section E.1.3.4.
83
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E.l.3.3 Air Care Products
The 2016 and 2012 CDRs report use of />dichlorobenzene in air care products at concentrations of at least
90 percent by weight. Synapse Information Resources (2009) identifies use of this chemical in air purifiers.
Ullmann's (2003) indicates that the chemical provides deodorant properties due to its inherently strong odor
and high vapor pressure. GoodGuide's (2011) Pollution Scorecard identifies use of this chemical in non-
personal, non-aerosol deodorants and air fresheners. The ECHA (2019) registration dossier identified use of
/;-dichlorobenzene in air care products. The Government of Canada (2003) identifies use of the chemical as
an air freshener and deodorizer. The Finnish Environment Institute (2019) also identifies the use ofp-
dichlorobenzene in air deodorizers. Australia's Dept. of Health (2000) identifies use of p-dichlorobenzene
as a room freshener in homes. An air freshener tablet from Grainger Global Sourcing (2014) was found to
contain />dichlorobenzene.
EPA identified additional domestic use of this chemical in antimicrobial products and bathroom cleaners.
EPA identified urinal and toilet deodorants and deodorizing wall blocks that contain p-dichlorobenzene.
Synapse Information Resources identified use of/>dichlorobenzene in mildew control agents (U.S. EPA
2019).
EPA has identified the following articles in which /;-dichlorobenzene is incorporated:
• Pesticide, fertilizer, and other agricultural chemical products: />dichlorobenzene is an active
pesticidal ingredient in pesticide products used for moth control (U.S. EPA, 2016 [2016 CDR];
CPID, 2020; Kirk-Othmer, 2001).
• Air care products: />dichlorobenzene is an odor agent in air care products (U.S. EPA, 2016 [2016
CDR]; Kirk-Othmer, 2001), such as toilet bowl deodorizers (CPID, 2020). CPID and the SDS for
Toilet Bowl Deodorizer (2014) identify use of p-dichlorobenzene in a toilet bowl deodorizer also in
concentrations between 99 - 100% by weight (CPID, 2020; Home Depot, 2019). The toilet bowl
deodorizer is designed to be attached with a hanger to the interior of the toilet bowl, where it
continuously deodorizes (Home Depot, 2019).
E.l.3.4 Automotive Care Products
CDR reports use of />dichlorobenzene in consumer and commercial automotive care products. The
Consumer Product Information Database (CPID, 2020) identifies one fuel additive product that contains
this chemical. A fuel additive from Marvel Oil Company (2017) was found to contain <0.1 wt%p-
dichlorobenzene, as per its safety data sheet (SDS) (Marvel Mystery Oil, 2017).
Marvel Mystery Oil is sold in small containers and can be added directly to the fuel tank or the crankcase of
engines for automobiles, trucks, agricultural and earth moving equipment, marine vehicles, recreational
vehicles, small powered landscaping equipment (such as chainsaws, lawn mowers, and snow blowers), and
gasoline-powered generators. Marvel Mystery Oil improves oil lubrication and sludge control, improves
fuel combustion, and aids engine cleaning (Marvel Mystery Oil. 2017).
The Organisation for Economic Co-operation and Development (OECD) Emission Scenario Document on
Lubricants and Lubricant Additives (OECD, 2004) provides general process descriptions for the
formulation of lubricants, which may be similar to the formulation of lubricating fuel additives such as the
Marvel Mystery Oil. Lubricant formulation typically involves the blending of two or more components,
including liquid and solid additives, together in a blending vessel (OECD, 2004).
84
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E.l.3.5 Other Uses
EPA has identified additional uses of p-dichlorobenzene in various other TSCA-covered conditions of use,
including aerosol coatings, closet storage and organizers, dyes and pigments, laboratory chemicals, plastics,
solvents, and textile colorants. One company identifies the use of />dichlorobenzene in polymer
preparations and compounds, though this may be a non-domestic use. SPIN reports non-domestic use ofp-
dichlorobenzene in adhesives, binding materials, and stabilizers (U.S. EPA 2019).
E.1.4 Disposal
Each of the conditions of use of />dichlorobenzene may generate waste streams of the chemical that are
collected and transported to third-party sites for disposal, treatment, or recycling. Industrial sites that treat
or dispose onsite wastes that they themselves generate are assessed in each condition of use assessment.
Similarly, point source discharges of />dichlorobenzene to surface water are assessed in each condition of
use assessment (point source discharges are exempt as solid wastes under RCRA). Wastes ofp-
dichlorobenzene that are generated during a condition of use and sent to a third-party site for treatment,
disposal, or recycling may include the following:
• Wastewater: /;-dichlorobenzene may be contained in wastewater discharged to POTW or other, non-
public treatment works for treatment. Industrial wastewater containing p-dichlorobenzene
discharged to a POTW may be subject to EPA or authorized NPDES state pretreatment programs.
The assessment of wastewater discharges to POTWs and non-public treatment works of p-
dichlorobenzene is included in each of the condition of use assessments.
• Solid Wastes: Solid wastes are defined under RCRA as any material that is discarded by being:
abandoned; inherently waste-like; a discarded military munition; or recycled in certain ways (certain
instances of the generation and legitimate reclamation of secondary materials are exempted as solid
wastes under RCRA). Solid wastes may subsequently meet RCRA's definition of hazardous waste
by either being listed as a waste at 40 CFR §§ 261.30 to 261.35 or by meeting waste-like
characteristics as defined at 40 CFR §§ 261.20 to 261.24. Solid wastes that are hazardous wastes are
regulated under the more stringent requirements of Subtitle C of RCRA, whereas non-hazardous
solid wastes are regulated under the less stringent requirements of Subtitle D of RCRA.
/;-dichlorobenzene is both a listed and a characteristic hazardous waste. />dichlorobenzene is a U-
listed hazardous waste under code U072 under RCRA; therefore, discarded, unused pure and
commercial grades of />dichlorobenzene are regulated as a hazardous waste under RCRA (40 CFR
§ 261.33(f)). />dichlorobenzene is a toxic contaminant under RCRA with waste number D027. A
solid waste can be a hazardous waste due to its toxicity characteristic if its extract following the
Toxicity Characteristic Leaching Procedure (TCLP) (or the liquid waste itself if it contains less than
0.5% filterable solids) contains at least 7.5 mg/L of />dichlorobenzene [40 CFR § 261.24],
• Wastes Exempted as Solid Wastes under RCRA: Certain conditions of use of />dichlorobenzene
may generate wastes of />dichlorobenzene that are exempted as solid wastes under 40 CFR §
261.4(a). For example, the generation and legitimate reclamation of hazardous secondary materials
of />dichlorobenzene may be exempt as a solid waste.
For the 2018 reporting year of the TRI program, 16 facilities reported in total nearly 2.7 million pounds of
/>dichlorobenzene as production-related waste. Of this total, over 1.45 million pounds were recycled and
over 1.14 million pounds were treated. Only 1% (approximately 29,000 pounds) of the production-related
waste was burned for energy recovery during 2018, and only 2% was released to the environment. The
85
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majority of the quantities (92%) of />dichlorobenzene managed as production-related waste were managed
as such on site.
E.2 Preliminary Occupational Exposure Data
EPA presents below an example of occupational exposure-related information obtained from preliminary
data gathering. EPA plans to consider this information and data in combination with other data and methods
for use in the risk evaluation.
Table Apx_E-l summarizes the OSHA inspection monitoring data identified in the CEHD from 2010 to
2019 by North American Industry Classification System (NAICS) code.
TableApx E-l. Summary of Industry Sectors with />-Dichlorobenzene Monitoring Samples Available
NAICS
NAICS Description
Number of
Data Points
325130
Synthetic Dye and Pigment Manufacturing
26
326199
All Other Plastics Product Manufacturing
7
926150
Regulation, Licensing, and Inspection of Miscellaneous
Commercial Sectors
4
Table Apx_E-2 summarizes NIOSH Health Hazard Evaluations identified during EPA's preliminary data
gathering.
Table Apx E-2. Summary of NIOSH HHEs with Monitoring for p-Dichlorobenzene a
Yesir of
I'uhliciilion
Report
Nu m her
l-~:icilit> Description
2009
HETA
2005-
0076
Environmental tobacco smoke at casinos (Bally's, Paris, and
Caesars Palace in Las Vegas, NV)
1981
HETA
81-065-
938
Vehicle maintenance facility (METRO Bus Maintenance Shop,
Washington, D.C.)
1980
80-082-
773
Manufacturer of chlorinated benzene derivatives
1980
HHE
77-99-
726
Chemical manufacturer (DuPont Chambers Works, Deepwater, New
Jersey)
1976
74-107-
279
Silicone manufacturer (General Electric Company, Silicone
Products Department, Waterford, New York)
a Table includes HHEs identified to date.
86
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Appendix F SUPPORTING INFORMATION - CONCEPTUAL MODEL FOR INDUSTRIAL AND
COMMERCIAL ACTIVITIES
Table Apx F-l. Worker
and Occupational >
on-User Exposure Conceptual Model Su
pporting Ta
)le
l.ili t \ik-
('iik-»ur\
Ri-k-:iu- /
I!\|)iisiiiv
Sii'ii;iriii
I!\|)iisiiiv
l!\|)iisuiv Kiuik-
Ki-ivplnr /
PlilllS III
K;iliiill;ik-
Shim-
l>;ilh\\;i\
Piipukiliuii
l"\ ;illl;iU-
The potential for exposure to
Liquid/Solid
Contact
Dermal
Workers
Yes
workers exists during
manufacturing, as p-DCB can
be manufactured as a liquid or
solid.
p-DCB is semi-volatile (VP =
Vapor
Inhalation
Workers,
ONU
Yes
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
Workers,
ONU
p-DCB can be manufactured as
Domestic
CBI
Manufacture of
p-DCB
Dust
Inhalation/Oral
Yes
a solid; therefore, there is a
potential for dust generation.
Misl
Inhalation
W orkers.
ONU
No
Misl generation is not expected
during manufacturing.
Manufacture
1 ¦ xposure is expected to be
primarily restricted to workers
who are directly involved in
Liquid/Solid
Conlacl
I )ermal
ONU
No
working with the chemical.
Dermal exposure by ()NIJ is not
expected for this condition of
use as they are not expected to
direcllv handle the chemical
The potential for exposures to
workers exists during import,
Import
Import
Repackaging of
Import
Containers
Liquid/Solid
Contact
Dermal
Workers
Yes
but exposure will only occur in
the event the imported material
is repackaged. p-DCB is
typically imported as a solid,
but may also be shipped in a
molten form.
87
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l.ili-t \ill-
Slum-
Ciili-»iir\
Slll>i;ili-»nr\
ki-li-:isi- /
l!\|)iisuiv
Sii-n;irin
l!\|)iisun-
P;ilh\\;i\
l!\|)iisuri- kiniii-
Ki-ii-plor /
Pupuhiliiiii
PlilllS III
l"\ ;i III ilk-
K;iliiill;ili-
Vapor
Inhalation
Workers,
ONU
Yes
p-DCB is semi-volatile (VP =
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
Dust
Inhalation/Oral
Workers,
ONU
Yes
If p-DCB is imported and
repackaged as a solid, then there
is a potential for dust
generation.
Mist
Inhalation
W orkers.
ONU
No
Mist generation is not expected
during import or repackaging.
Liquid/Solid
Contact
I )ermal
ONU
No
1 Ixposure is expected to be
primarily restricted to workers
who are directly involved in
working with the chemical.
Dermal exposure by ONU is not
expected lor this condition of
use as they are not expected to
directlv handle the chemical
Processing
As a Reactant
Intennediates in plastic
material and resin
manufacturing;
pharmaceutical
manufacturing; all other
basic chemical
manufacturing; dye
manufacturing
Reactants in
plastic material
and resin
manufacturing,
pharmaceutical
manufacturing,
dye
manufacturing,
chemical
manufacturing
Liquid/Solid
Contact
Dermal
Workers
Yes
The potential for exposures to
workers exists during
manufacturing of other
chemicals, as p-DCB can be
processed in liquid/solid form.
Vapor
Inhalation
Workers,
ONU
Yes
p-DCB is semi-volatile (VP =
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
Dust
Inhalation/Oral
Workers,
ONU
Yes
If p-DCB is transported to
industrial users as a solid, then
there is a potential for dust
generation.
Mist
Inhalation
W orkers,
ONU
No
Mist generation is not expected
during manufacturing of other
chemicals.
Liquid/Solid
Contact
Dermal
ONU
No
Exposure is expected to be
primarily restricted to workers
who are directly involved in
working with the chemical.
Dermal exposure by ONU is not
88
-------
l.ilit \ik-
Ciili-»iir\
Ri-k-:iu- /
I!\|)iisiiiv
Si'i'ii;irin
I!\|)iisiiiv
l!\|)iisuiv KhiiU-
Ri-u-plnr /
PlilllS III
R;iliiill;ik-
l';illi\\;i\
Pupuhiliiiii
l"\ ;i III ilk-
expected lor this condition of
use as they are not expected to
directly handle the chemical.
The potential for exposures to
workers exists during
Liquid/Solid
Contact
Dermal
Workers
Yes
processing (incorporation into
formulation, mixture, or
reaction product), as p-DCB can
be processed in liquid/solid
form.
p-DCB is semi-volatile (VP =
Vapor
Inhalation
Workers,
ONU
Yes
1.74 mmHg) at room
temperature and there is
Intermediates in
plastic material
and resin
manufacturing
potential for vapor generation.
Incorporated
into
formulation,
mixture, or
reaction
product
Intermediates in plastic
material and resin
manufacturing
Dust
Inhalation/Oral
Workers,
ONU
Yes
If p-DCB is transported to
industrial users as a solid, then
there is a potential for dust
generation.
Misl
Inhalation
W orkers.
ONU
No
Mist generation is not expected
during processing.
Exposure is expected to be
primarily restricted to workers
who are directly involved in
Liquid/Solid
Contact
Dermal
ONU
No
working with the chemical.
Dermal exposure by ()Nl J is not
expected for this condition of
use as they are not expected to
directly handle the chemical.
The potential for exposures to
workers exists during
Constituent in oils;
Solvents (which become
part of product
formulation or mixture in
Incorporated as
constituents in
oil, solvents
Liquid/Solid
Contact
Dermal
Workers
Yes
processing (incorporation into
formulation, mixture, or
reaction product), as p-DCB can
exist as liquid/solid.
plastic material and resin
p-DCB is semi-volatile (VP =
manufacturing)
Vapor
Inhalation
Workers,
ONU
Yes
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
89
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l.ili-t \ill-
Slum-
Ciili-»iir\
Slll>i;ili-»nr\
ki-li-:isi- /
l!\|)iisuiv
Sii-n;irin
l!\|)iisun-
P;ilh\\;i\
l!\|)iisuri- kiniii-
Ki-ii-plor /
Pupuhiliiiii
PlilllS III
l"\ ;i III ilk-
K;iliiill;ili-
Dust
Inhalation/Oral
Workers,
ONU
Yes
If p-DCB is transported to
industrial users as a solid, then
there is a potential for dust
Mist
Inhalation
W orkers.
ONU
No
Mist generation is not expected
during processing.
Liquid/Solid
Contact
I )ermal
ONU
No
1 Ixposure is expected to be
primarily restricted to workers
who are directly involved in
working with the chemical.
Dermal exposure by ()Nl J is not
expected for this condition of
use as they are not expected to
direcllv handle the chemical.
Liquid/Solid
Contact
Dermal
Workers
Yes
The potential for exposures to
workers exists during
processing (incorporation into
formulation, mixture, or
reaction product), as p-DCB can
exist as liquid/solid.
Incorporated in
Vapor
Inhalation
Workers,
ONU
Yes
p-DCB is semi-volatile (VP =
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
Odor agents
(deodorizers)
odor agents
(e-g-
deodorizers)
Dust
Inhalation/Oral
Workers,
ONU
Yes
Dust generation is possible
during processing when p-DCB
exists as dry powder.
Mist
Inhalation
W orkers.
ONU
Yes
Mist generation is possible
during processing.
Liquid/Solid
Contact
I )ermal
ONU
No
]¦ xposure is expected to be
primarily restricted to workers
who are directly involved in
working with the chemical.
ONUs are not expected to come
in direct contact with the
chemicals.
Incorporated
into article
Intermediates in
Pesticide, fertilizer, and
other agricultural
Intermediates in
pesticide,
fertilizer, and
Liquid/Solid
Contact
Dermal
Workers
Yes
The potential for exposures to
workers exists during
processing (incorporation into
90
-------
l.ilit \ik-
Ciili-»iir\
Sul)i;ili-»iir\
Ri-k-:iu- /
I!\|)iisiiiv
Sii'ii;iriii
I!\|)iisiiiv
l!\|)iisuiv KhiiU-
Ri-u-plnr /
PlilllS III
R;iliiill;ik-
P;ilh\\;i\
Pupuhiliiiii
l"\ ;i III ilk-
chemical manufacturing
other
article), as p-DCB can be
(moth repellant)
agricultural
processed as liquid/solid.
chemical
manufacturing
Vapor
Inhalation
Workers,
Yes
p-DCB is semi-volatile (VP =
1.74 mmHg) at room
ONU
temperature and there is
potential for vapor generation.
Dust
Inhalation/Oral
Workers,
Yes
If p-DCB is transported to
industrial users as a solid, then
ONU
there is a potential for dust
generation.
Mist
Inhalation
W orkers.
ONU
No
Mist generation is not expected
during processing.
1 Ixposure is expected to be
primarily restricted to workers
who are directly involved in
Liquid/Solid
Contact
I )ermal
ONU
No
working with the chemical.
Dermal exposure by ()NIJ is not
expected for this condition of
use as they are not expected to
directly handle the chemical.
Liquid/Solid
Contact
Dermal
Workers
Yes
The potential for exposures to
workers exists during
processing (incorporation into
article), as p-DCB can be
Incorporated in
plastic products
(p-DCB is used
in the
manufacture of
PPS
(polyphenyl
sulfide) - e.g.,
high heat
thermoplastics
processed as liquid/solid.
In plastic product
manufacturing
Vapor
Inhalation
Workers,
ONU
Yes
p-DCB is semi-volatile (VP =
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
Dust
Inhalation/Oral
Workers,
ONU
Yes
Dust generation is possible
during processing when p-DCB
exists as dry pow der.
ivlisi
Inhalation
W orkers.
ONU
No
Mist generation is not expected
during processing.
Liquid/Solid
Contact
Dermal
ONU
No
] ¦ xposure is expected to be
primarily restricted to workers
who are directly involved in
working with the chemical.
Dermal exposure by ONU is not
91
-------
l.ili-t \ill-
Slum-
Ciili-»iir\
Slll>i;ili-»nr\
ki-li-:isi- /
l!\|)iisuiv
Sii-n;irin
l!\|)iisun-
l!\|)iisuri- kiniii-
Ki-ii-plor /
Pupuhiliiiii
PlilllS III
l"\ ;i III ilk-
K;iliiill;ili-
expected lor this condition of
use as they are not expected to
directly handle the chemical.
Odor agents in wholesale
and retail trade
Incorporated in
odor agents
Liquid/Solid
Contact
Dermal
Workers
Yes
The potential for exposures to
workers exists during
processing (incorporation into
article), as p-DCB can be
processed as liquid/solid.
Vapor
Inhalation
Workers,
ONU
Yes
p-DCB is semi-volatile (VP =
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
Dust
Inhalation/Oral
Workers,
ONU
Yes
Dust generation is possible
during processing when p-DCB
exists as dry powder.
Mist
Inhalation
Workers,
ONU
Yes
Mist generation is possible
during processing.
Liquid/Solid
Contact
I )ermal
ONU
No
1 Ixposure is expected to be
primarily restricted to workers
who are directly invoked in
working with the chemical.
Dermal exposure by ONI J is not
expected for this condition of
use as they are not expected to
directly handle the chemical.
Pharmaceutical and
medicine manufacturing
Incorporated in
pharmaceutical
and medicine
manufacturing
Liquid/Solid
Contact
Dermal
Workers
Yes
The potential for exposures to
workers exists during
processing (incorporation into
article), as p-DCB can be
processed as liquid/solid.
Vapor
Inhalation
Workers,
ONU
Yes
p-DCB is semi-volatile (VP =
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
Dust
Inhalation/Oral
Workers,
ONU
Yes
Dust generation is possible
during processing when p-DCB
exists as dry powder.
Mist
Inhalation
Workers,
ONU
Yes
Mist generation is possible
during processing.
92
-------
l.ilit \ik-
('iik-»ur\
Ri-k-:iu- /
I!\|)iisiiiv
Si'i'ii;irin
I!\|)iisiiiv
l!\|)iisuiv KhiiU-
Ri-u-plnr /
PlilllS III
R;iliiill;ik-
Slum-
l';illi\\;i\
Pupuhiliiiii
l"\ ;i III ilk-
Kxposure is expected to be
primarily restricted to workers
who are directly involved in
Liquid/Solid
Contact
Dermal
ONU
No
working with the chemical.
Dermal exposure by C )Nl J is not
expected for this condition of
use as they are not expected to
directly handle the chemical.
Air care products can be in solid
Liquid/Solid
Contact
Dermal
Workers
Yes
or liquid form; therefore,
exposures to workers exists for
p-DCB used in air care
products.
p-DCB is semi-volatile (VP =
Continuous action air
fresheners (including
toilet/urinal
deodorizers/fresheners),
cleaning and furnishing
care uses
Used in air care
Vapor
Inhalation
Workers,
ONU
Yes
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
Air care
products
products.
Cleaning and
Dust
Inhalation/Oral
Workers,
ONU
Yes
Dust generation is possible
during use of air care products.
furnishing care
products
Mist
Inhalation
Workers,
0\TTT
Yes
Mist generation is possible
during use of air care products.
Commercial
1 ¦ xposure is expected to be
primarily restricted to workers
Uses
who are directly involved in
Liquid/Solid
Contact
I )ermal
ONU
No
working with the chemical.
Dermal exposure by ONU is not
expected for this condition of
use as they are not expected to
direcllv handle the chemical.
Automotive care products can
Liquid/Solid
Contact
Dermal
Workers
Yes
be in solid or liquid form;
therefore, exposures to workers
Automotive
care products
Automotive care
products
Used in
automotive care
exists for p-DCB used in air
care products.
products
p-DCB is semi-volatile (VP =
Vapor
Inhalation
Workers,
ONU
Yes
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
93
-------
l.ili-t \ill-
Slum-
Ciili-»iir\
Slll>i;ili-»nr\
ki-li-:isi- /
l!\|)iisuiv
Sii-n;irin
l!\|)iisun-
P;ilh\\;i\
l!\|)iisuri- kiniii-
Ki-ii-plor /
Pupuhiliiiii
PlilllS III
l"\ ;i III ilk-
K;iliiill;ili-
Dust
Inhalation/Oral
Workers,
ONU
Yes
Dust generation is possible
during use of automotive care
products.
Mist
Inhalation
Workers,
ONU
Yes
Mist generation is possible
during use of automotive care
products.
Liquid/Solid
Contact
I )ermal
ONU
No
1 ixposure is expected to be
primarily restricted to workers
who are directly involved in
working with the chemical.
Dermal exposure by ONI J is not
expected for this condition of
use as they tire not expected to
directly handle the chemical.
Lubricants
and greases
Lubricants and greases,
degreasers
Used in
lubricants and
greases, and
degreasers
Liquid/Solid
Contact
Dermal
Workers
Yes
Lubricants and greases, and
degreasers can be in solid or
liquid forms.
Vapor
Inhalation
Workers,
ONU
Yes
p-DCB is semi-volatile (VP =
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
Mist
Inhalation
W orkers,
ONU
No
Mist generation is not expected
during its use in lubricants and
urease, and deareaser.
Dust
Inhalation/Oral
W orkers,
ONU
No
Dust generation is not expected
during its use in lubricants and
srease. and demeaser.
Liquid/Solid
Contact
Dermal
ONU
No
Lxposure is expected to be
primarily restricted to workers
who are directly invoked in
working with the chemical.
Dermal exposure by ONU is not
expected for this condition of
use as they are not expected to
directly handle the chemical.
Building and
construction
products
Building and
construction products
Used in plastic
foam insulation,
foam sealant
Liquid
Contact
I )ermal
Workers
No
Plastic foam insulation, loam
sealant, and other building and
construction products will
typically in solid form:
therefore, exposures to workers
94
-------
l.ili-t \ill-
Slum-
Ciili-»iir\
Slll>i;ili-»nr\
ki-li-:isi- /
l!\|)iisuiv
Sii-n;irin
l!\|)iisun-
l>;illi\\;i\
l!\|)iisuri- kiuili-
ki-ii-plor /
Pupuhiliiiii
PlilllS III
l"\ ;i III ilk-
k;ilinll;ili-
is minimal when p-l)CB is in
liquid lbnn.
Solid
Contact
Dermal
Workers
Yes
Plastic ibam insulation, foam
sealant, and other building and
construction products will
typically in solid form;
therefore, exposures to workers
exist when p-DCB is in solid
form.
Vapor
Inhalation
Workers,
ONU
Yes
p-DCB is semi-volatile (VP =
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
Mist
Inhalation
W orkers,
ONU
No
Mist generation is not expected
during its use as a plastic foam
insulation, foam sealant, and
other building and construction
products.
Dust
Inhalation/Oral
Workers,
ONU
Yes
Dust generation is possible
during its use as a plastic foam
insulation, foam sealant, and
other building and construction
products.
Liquid/Solid
Contact
I )ermal
ONU
No
Exposure is expected to be
primarily restricted to workers
who are directly involved in
working with the chemical.
Dermal exposure by ONU is not
expected for this condition of
use as they are not expected to
direcllv handle the chemical.
Other Use
Laboratory and
analytical use
Used as
laboratory
chemicals
Liquid/Solid
Contact
Dermal
Workers
Yes
The potential for exposures to
workers is possible during use
of p-DCB as a laboratory
chemical, as p-DCB can be used
in liquid/solid form.
Vapor
Inhalation
Workers,
ONU
Yes
p-DCB is semi-volatile (VP =
1.74 mmHg) at room
95
-------
l.ili-t \ill-
Slum-
Ciili-»iir\
Slll>i;ili-»nr\
ki-li-:isi- /
l!\|)iisuiv
Sii-n;irin
l!\|)iisun-
P;il hw ;i\
l!\|)iisuri- kiniii-
Ki-ii-plor /
Pupuhiliiiii
PlilllS III
l"\ ;i III ilk-
K;iliiill;ili-
temperature and there is
potential for vapor generation.
Mist
Inhalation
W orkers,
ONU
No
Mist generation is not expected
during its use as a laboratory
chemical.
Dust
Inhalation/Oral
Workers,
ONU
Yes
Dust generation is possible
during its use as a laboratory
chemical.
Liquid/Solid
Contact
I )ermal
ONU
No
1 ixposure is expected to be
primarily restricted to workers
who are directly involved in
working with the chemical.
Dermal exposure by ONI J is not
expected lor this condition of
use as they tire not expected to
directly handle the chemical.
Disposal
Disposal
Emissions to air, in
wastewater, liquid
wastes, and solid wastes
Worker
handling wastes
Liquid/Solid
Contact
Dermal
Workers
Yes
The potential for exposures to
workers exists during this use as
liquid/solid formulations may
be disposed
Vapor
Inhalation
Workers,
ONU
Yes
p-DCB is semi-volatile (VP =
1.74 mmHg) at room
temperature and there is
potential for vapor generation.
Dust
Inhalation/Oral
Workers,
ONU
Yes
Dust generation is possible
during disposal of solid wastes.
Mist
Inhalation
W orkers.
ONU
No
Mist generation is not expected
during disposal of liquid wastes.
Liquid/Solid
Contact
I )ermal
ONU
No
1 Exposure is expected to be
primarily restricted to workers
who are directly involved in
working with the chemical.
Dermal exposure by ONI J is not
expected lor this condition of
use as they are not expected to
directly handle the chemical.
96
-------
Appendix G
SUPPORTING INFORMATION - CONCEPTUAL MODEL FOR CONSUMER
ACTIVITIES/USES
Table Apx G-l. Consumer Exposure Conce
jtual Model Supporting
able
I.ill- ( >ik-
SulK-;iU-»or\
I'nim
siiurii-
I'.\|)IISIIIV
l>;illi\\;i\
Rimk-
Ri-u-plur
I'liuis In
II \ ;i I u ilk-
R;iliiill;ik-
Direct contact
through application
or use of products
Liquid/ Solid
Contact
Dermal
Consumers
Yes
Exposure is expected to be primarily
restricted to consumers who are directly
involved in the application or use of the
chemical. Bystanders are not expected to
come in direct contact with the chemical.
Consumer
Use
Air care products
Continuous action air
fresheners (including
toilet/urinal
deodorizers/fresheners
)
Long-term
emission/mass-
transfer through
application or use
of products
Vapor
Inhalation
Consumers
and
Bystanders
Yes
p-DCB is volatile at room temperature; the
inhalation pathway should be further
analyzed.
Direct contact
through application
or use of products
Mist
Inhalation
and Dermal
Consumers
and
Bystanders
No
The product is not expected to be spray
applied; therefore, mist generation is not
expected.
Long-term
emission/mass-
transfer, Abrasion,
Direct Transfer to
Dust
Dust
Dermal,
Inhalation,
and Oral
Consumers
and
Bystanders
Yes
Dust generation is possible during use of this
particular air care product.
Direct contact
through application
or use of products
Liquid/ Solid
Contact
Dermal
Consumers
Yes
Exposure is expected to be primarily
restricted to consumers who are directly
involved in using the chemical. Bystanders
are not expected to come in direct contact
with the chemical.
Consumer
Use
Building/
construction
materials not
covered elsewhere
Plastic foam
insulation, foam
sealant
Long-term
emission/mass-
transfer through
application or use
of products
Vapor
Inhalation
Consumers
and
Bystanders
Yes
p-DCB is volatile at room temperature; the
inhalation pathway should be further
analyzed.
Direct contact
through application
or use of products
Mist
Inhalation
and Dermal
Consumers
and
Bystanders
Yes
The product is expected to be spray applied;
therefore, mist generation is expected.
Long-term
emission/mass-
transfer, Abrasion,
Dust
Dermal,
Inhalation,
and Oral
Consumers
and
Bystanders
Yes
Dust generation is possible during use of
building/construction materials. In addition,
product can be sanded after application;
therefore, dust generation is expected.
97
-------
(;ik-»iir\
SlllK;ik-»or\
I'nim
SI III n i-
I'.\|)IISIIIV
l';illi\\;i\
Kinik'
Ki-u-plur
Philis In
l"\ ill u ilk-
K;iliiill;ik-
Direct Transfer to
Dust
Direct contact
through application
or use of products
Liquid/ Solid
Contact
Dermal
Consumers
Yes
Exposure is expected to be primarily
restricted to consumers who are directly
involved in using the chemical. Bystanders
are not expected to come in direct contact
with the chemical.
Consumer
Use
Automotive care
products
Automotive care
products (including
automotive fuel
Long-term
emission/mass-
transfer through
application or use
of products
Vapor
Inhalation
Consumers
and
Bystanders
Yes
p-DCB is volatile at room temperature; the
inhalation pathway should be further
analyzed.
additive)
Direct contact
through application
or use of products
Mist
Inhalation
and Dermal
Consumers
and
Bystanders
No
The product is not expected to be spray
applied; therefore, mist generation is not
expected.
Long-term
emission/mass-
transfer, Abrasion,
Direct Transfer to
Dust
Dust
Dermal,
Inhalation,
and Oral
Consumers
and
Bystanders
No
Dust generation is unlikely during use of this
particular automotive care products.
Direct contact
through handling
or disposal of
products
Liquid/ Solid
Contact
Dermal
Consumers
Yes
Exposure is expected to be primarily
restricted to consumers who are directly
involved in handling or disposing the
chemical. Bystanders are not expected to
come in direct contact with the chemical.
Consumer
Handling of
Disposal and
Wastewater, Liquid
wastes and solid
wastes
Wastewater, Liquid
wastes and solid
wastes
Long-term
emission/mass-
transfer through
handling or
disposal of
products
Vapor
Inhalation
Consumers
and
Bystanders
Yes
p-DCB is volatile at room temperature;
inhalation pathway should be further
analyzed.
Waste
Direct contact
through handling
or disposal of
products
Mist
Inhalation
and Dermal
Consumers
and
Bystanders
No
Mist generation is not expected during
handling or disposal.
Long-term
emission/mass-
transfer, Abrasion,
Direct Transfer to
Dust
Dust
Dermal,
Inhalation,
and Oral
Consumers
and
Bystanders
Yes
Dust generation is possible during disposal of
solid wastes.
98
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Appendix H SUPPORTING INFORMATION - CONCEPTUAL MODEL FOR
ENVIRONMENTAL RELEASES AND WASTES
Table A
)x H-l. General Population and Environmental Exposure Conceptual Model
Supporting Table
Life
( >clo
S(;i»e
Csilcfion
Ki'k'sisi*
r.xposiiiv
P;il h \\ ;¦> /
Mcdiii
l'l\|)OMIIV
RnuU's
Km'plor /
Popuhilion
I'liins lo
Kiilioiiiilo
Near l'aeilil>
ambient air
concent nil ions
liihalaliiHi
(ieiiei.ll
1'iipiilaliiiii
\n
1 Emissions
in \ll
1 !llllsslii|ls 111 \ir
11 id i reel
ilepusiiiiin iii
Oral
Dermal
(ieiiei.il
Piipulal Kin
\n
p-l )ieliliii'iiheii/ene is a 11 \ 1* Sialiiiiiars source
releases of p-ilicliliiriihcii/ciie lo amhieiii air are
iiiuler the inrisdieliiiii ol the ( \ \
nearln hnilies
nf wilier'and
soil ciilclinieiilb
II !l)
\i|iialic ami
1 erresirial
Receptors
\n
Direct release
into surface
water and
TBD
Aquatic and
Terrestrial
Receptors
Yes
EPA has developed Ambient Water Quality
All
indirect
partitioning to
sediment
Oral
Dermal
General
Population
No
Criteria for protection of human health for p-
dichlorobcn/.cnc.
Wastewater
or Liquid
Wastes
Industrial pre-
treatment and
wastewater
treatment, or
POTW
Drinking Water
via Surface or
Ground Water
Oral
Dermal and
Inhalation
(e.g.,
showering)
General
Population
No
The drinking water exposure pathway for p-
dichloroben/ene is currently addressed in the
SDWA regulatory analytical process for public
water systems.
Biosolids:
application to
soil and/or
migration to
groundwater
and/or surface
water
Oral (e.g..
ingestion
of soil)
Inhalation
General
Population
No
Since it has been found in biosolids (Biosolids
Biennial Review -
hllps ://www .epa .gov/silcs/produclion/fi les/2019-
()6/documcnls/2016-2017-biosolids-biennial-
TBD
Aquatic and
Terrestrial
receptors
Yes
review.pdf). this pathway will be evaluated for
exposures to aquatic and terrestrial species
6The exposure pathways, exposure routes and hazards EPA plans to consider are subject to change in the final scope, in light of comments received on this draft scope and
other reasonably available information. EPA continues to consider whether and how other EPA-administered statutes and any associated regulatory programs address the
presence of 1,1,2-trichloroethane in exposure pathways falling under the jurisdiction of these EPA statutes.
99
-------
l.ifc
( \cle
S(;i»e
( ;i(eii»n
Uck'iiso
r.xposiirc
P;il h \\ ;¦> /
Modiii
I'lxposiiiv
Koulos
Receptor/
Population
PlilllS lo
r.\;ilu;ilc''
K;ilion;ile
1 iiderurouud
IU|CCllOll
\1mr;ilioii lii
urouud\\;ikT.
polculi;il
surl';icc drinknm
\\;ilcr
<)r;il
l)c rm;il
IiiIi;iI;iIioii
(icucml
I'opiikiiiou
VI.
/'-dichlorohcii/cuc is released lo Cl;iss 1
I iidcrurouud Injection Wells \x Inch ;ire co\ ered
h\ SI )W \ ;ind k( k \
\t|ii;iiic ;ind
1 crrcsirml
S|KVk's
II !l)
1 )lspos;il
Solid ;md
I.K|iikI
W ;is|cs
1 klAII'doils.
\huiicip;il
hmdl'ill ;md
oilier l;iud
disposal
l.c;ich;ilc In
soil, mound
\\;ikT;ind or
niilm;iliou lo
surl';ice \\;ilcr
()r;il
l)c rm;il
( iCIICItll
I'opukiiiou
Kl
/'-dichloroheii/cuc is included on llic lisi of
h;i/;irdous \\;isics piirsiKiiil lo kCk \ 't>o| (4u
(ik jfjf :<.i '' i
II !l)
\i|ii;ilic ;md
1 crrcsiri;il
kcccpiors
100
------- |