RESUMEN
The assessment of human health and ecological risks at chemically contaminated sites often includesthe use of models to assess chemical transport, fate, and exposure/toxicity. These models require input data on a variety of physical and chemical properties for each compound of concern. Small changes in some of these parameters may result in significant differences in estimated human health or ecological risks and in the extent of required remediation efforts. The octanol-water partition coefficient (Kow) for hydrophobic organic compounds is one such parameter, particularly because it is often used to estimate additional partitioning and bioaccumulation parameters. Unfortunately, there is considerable variability among tabulated Kow values for many compounds of concern. This paper assesses the implications of using various values of Kow to calculate health-protective polychlorinated biphenyl (PCB) sediment quality objectives (SQOs) in a case study using a simplified food chain model and the range of Kow values available from or recommended by the U. S. EPA. For the site and Kow values considered in this study, which are a snapshot of values available in the spring of 2004, the SQOs differ by as much as a factor of 5. This range of SQOs is estimated to correspond to a difference in remediation costs of $48 million.
Asunto(s)
Monitoreo del Ambiente/métodos , Octanoles/análisis , Medición de Riesgo/métodos , Contaminantes del Agua/análisis , Agua/análisis , Animales , Ecosistema , Contaminantes Ambientales , Peces , Cadena Alimentaria , Sedimentos Geológicos/análisis , Humanos , Cinética , Modelos Teóricos , Compuestos Orgánicos , Reproducibilidad de los Resultados , Suelo/análisis , Estados Unidos , Washingtón , Contaminantes Químicos del AguaRESUMEN
Associations between airborne concentrations of fine particulate matter (PM(2.5)) and mortality rates have been investigated primarily by ecologic or semiecologic epidemiology studies. Many investigators and regulatory agencies have inferred that the weak, positive association often observed is causal, that it applies to all forms of airborne PM(2.5), and that current ambient levels of PM(2.5) require reduction. Before implementing stringent regulations of ambient PM(2.5), analysts should pause to consider whether the accumulated evidence is sufficient, and sufficiently detailed, to support the PM(2.5) National Ambient Air Quality Standard. We take two tacks. First, we analyze the toxicologic evidence, finding it inconsistent with the notion that current ambient concentrations of all forms of fine particulate matter should affect pulmonary, cardiac, or all-cause mortality rates. More generally, we note that the thousands of forms of PM(2.5) are remarkably diverse, yet the PM(2.5) NAAQS presumes them to be identical toxicologically, and presumes that reducing ambient concentrations of any form of PM(2.5) will improve public health. Second, we examine the epidemiologic evidence in light of two related examples of semiecologic associations, examples that both inform the PM-mortality association and have been called into question by individual-level data. Taken together, the toxicologic evidence and lessons learned from analogous epidemiologic associations should encourage further investigation of the association between particulate matter and mortality rates before additional regulation is implemented, and certainly before the association is characterized as causal and applicable to all PM(2.5).