| CREG: | Cancer Risk Evaluation Guide, a highly conservative value that would be expected to cause no more than one excess cancer in a million persons exposed over time. |
| EMEG: | Environmental Media Evaluation Guide, a media-specific comparison value that is used to select contaminants of concern. Levels below the EMEG are not expected to cause adverse noncarcinogenic health effects. |
| RBC: | Risk-based Concentration, a contaminant concentration that is not expected to cause adverse health effects over long-term exposure. |
| RMEG: | Reference Dose Media Evaluation Guide, a lifetime exposure level at which adverse, noncarcinogenic health effects would not be expected to occur. |
| SSL: | Soil Screening Level, an estimate of a contaminant concentration not expected to result in noncarcinogenic health effects during a specified duration of exposure, or to be associated with no more than an estimated one excess cancer in a million (10-6) persons exposed during a 70-year life span. |
APPENDIX B: ATSDR GLOSSARY OF ENVIRONMENTAL HEALTH TERMS
| Metals | CH2MHILL 2001 | CH2MHILL2000a | Garcia et al. 2000 | CH2MHILL and Baker 1999 | PMC 1998 | Hoffsommer and Glover 1978 | Lai 1978 | Learned et al. 1973 |
| Aluminum | X | X | X | X | ||||
| Antimony | X | X | X | X | ||||
| Arsenic | X | X | X | X | X | |||
| Barium | X | X | X | X | X | |||
| Beryllium | X | X | X | X | ||||
| Bismuth | X | |||||||
| Boron | X | |||||||
| Cadmium | X | X | X | X | X | |||
| Chromium | X | X | X | X | X | |||
| Cobalt | X | X | X | X | X | |||
| Copper | X | X | X | X | X | |||
| Gold | X | |||||||
| Iron | X | X | X | X | X | |||
| Lanthanum | X | |||||||
| Lead | X | X | X | X | X | |||
| Manganese | X | X | X | X | X | |||
| Mercury | X | X | X | |||||
| Molybdenum | X | |||||||
| Nickel | X | X | X | X | X | |||
| Niobium | X | |||||||
| Scandium | X | |||||||
| Selenium | X | X | X | X | ||||
| Silver | X | X | X | X | X | |||
| Strontium | X | |||||||
| Thallium | X | X | X | |||||
| Thorium | X | |||||||
| Tin | X | X | X | |||||
| Titanium | X | |||||||
| Tungsten | X | |||||||
| Vanadium | X | X | X | X | X | |||
| Yttrium | X | |||||||
| Zinc | X | X | X | X | X | |||
| Zirconium | X |
| Inorganics | CH2MHILL 2001 | CH2MHILL2000a | Garcia et al. 2000 | CH2MHILL and Baker 1999 | PMC 1998 | Hoffsommer and Glover 1978 | Lai 1978 | Learned et al. 1973 |
| Ammonia | X | X | ||||||
| Ammonium perchlorate | X | |||||||
| Calcium | X | X | X | |||||
| Cyanide | X | |||||||
| Magnesium | X | X | X | |||||
| Nitrate and nitrite | X | X | ||||||
| Perchlorate | X | |||||||
| Phosphorus | X | |||||||
| Potassium | X | X | ||||||
| Sodium | X | X | ||||||
| White phosphorous | X |
| Explosives | CH2MHILL 2001 | CH2MHILL2000a | Garcia et al. 2000 | CH2MHILL and Baker 1999 | PMC 1998 | Hoffsommer and Glover 1978 | Lai 1978 | Learned et al. 1973 |
| Cyclotetramethylene tetranitramine (HMX) | X | X | ||||||
| Cyclotrimethylene trinitramine (RDX) | X | X | X | |||||
| 1,3-Dinitrobenzene | X | X | ||||||
| 2,4-Dinitrotoluene | X | X | ||||||
| 2,6-Dinitrotoluene | X | X | ||||||
| 2-amino-4,6-Dinitrotoluene | X | X | ||||||
| 4-amino-2,6-Dinitrotoluene | X | X | ||||||
| Methyl-2,4,6-trinitrophenylnitramine (tetryl) | X | X | X | |||||
| 2-Nitrotoluene | X | X | ||||||
| 3-Nitrotoluene | X | X | ||||||
| 4-Nitrotoluene | X | X | ||||||
| Nitrobenzene | X | X | ||||||
| Nitroglycerin | X | X | ||||||
| Pentaerythritol tetranitrate | X | X | ||||||
| 1,3,5-Trinitrobenzene | X | X | ||||||
| 2,4,6-Trinitrotoluene (TNT) | X | X | X |
PMC 1998 also sampled for volatile organic compounds, semivolatile organic compounds, pesticides, and polychlorinated biphenyls in the NASD near the Vieques Municipal Airport.
APPENDIX D: RESPONSES TO PUBLIC COMMENTS
The Agency for Toxic Substances and Disease Registry (ATSDR) received the following comments during the public comment period (October 23 to December 31, 2001) for the Soil Pathway Evaluation for the Isla de Vieques Bombing Range Public Health Assessment (PHA) (October 2001). For comments that questioned the validity of statements made in the PHA, ATSDR verified or corrected the statements. The list of comments does not include editorial comments, such as word spelling or sentence syntax.
General
Response: ATSDR's exposure evaluation process carefully and thoroughly evaluates whether people are being exposed to hazardous substances and, if so, whether that exposure is harmful and should be stopped or reduced. As the first step in the process, ATSDR scientists review site environmental data to determine the types of contamination present, their quantity and location, and how people could come into contact with them. If the environmental data shows that people have or could come into contact with hazardous substances at the site, ATSDR scientists rigorously analyze the weight of evidence of existing scientific information, including the results of medical, toxicologic, and epidemiologic studies to determine if exposures are likely to result in harmful health effects.
Response: ATSDR relies on technical and scientific information to arrive at its health conclusions. This information is incorporated in the PHA, which is written for the general public rather than the scientific or regulatory communities. However, a PHA of this length is necessary in order to provide an evaluation of all available information.
Response: While it is illegal to trespass onto the Navy's property, a health concern existed for those people who occupied portions of the Live Impact Area (LIA) from April 1999 to May 2000. ATSDR would have been remiss not to evaluate this exposure situation despite the illegal nature of the occupation.
Response: ATSDR is mandated by law [Comprehensive Environmental Response, Compensation, and Liability Act, (CERCLA)] to assess public health implications at sites on the National Priorities List (NPL). In addition, ATSDR can conduct public health assessments at the request of concerned individuals (i.e., through a petition). This PHA and related ATSDR public health actions currently underway in Vieques result from a petition submitted by a Vieques resident. It is under this mandate that ATSDR is conducting its investigation on Vieques.
Response: Thank you for the comment.
Response: Thank you for the comment.
ATSDR's Activities at Vieques
Response: ATSDR's public availability sessions are typically good forums for community members to define specific health issues of concern that they would like ATSDR to address. They also provide a good opportunity for people to ask specific questions about ATSDR's health evaluation process and conclusions. Therefore, ATSDR commiserates with the commentator that the unfortunate protest by a few activists prevented the people of Vieques from having free access and exchange with ATSDR about their health concerns and questions during the public availability session held in March 2001.
Response: The quality and extent of the existing information about the soil on Vieques is sufficient to support the public health decisions discussed in the document. ATSDR reviews all existing environmental data and exposure information that is available when drawing its conclusions and making its recommendations about public health.
Response: When evaluating public health hazards, ATSDR prefers to use as much information as possible when assessing environmental exposures. However, sometimes data are limited, particularly for past exposure scenarios. With limited data, ATSDR uses the available information about site conditions and the best professional judgement of ATSDR's scientists to draw conclusions and make appropriate recommendations. Following this approach, there was sufficient information to address the central question of whether residents of Vieques are being exposed to harmful levels of chemicals present in the soil.
Response: In the letter accompanying the PHA, ATSDR solicited written comments about the PHA in addition to requesting that the reader complete the enclosed questionnaire (i.e., the Reader Evaluation form). Public comments that ATSDR receives are not limited to the Reader Evaluation form and are typically much more detailed. The public comment period (October 23 to December 31, 2001) was extended beyond the usual 30 days to account for holiday activities.
Response: Thank you for the comment.
Response: Thank you for the comment. ATSDR appreciates objective comments and criticisms that can be used to contribute to the PHA. Before being released, the PHA was reviewed by qualified scientists from other federal agencies (e.g., USGS) that are not connected to ATSDR.
Soil Geology
Response: ATSDR concluded that the soil on the LIA differed slightly from the soil on the rest of Vieques after statistically comparing the chemical concentrations detected in each area. Comparisons were considered statistically significant (i.e., different) if there was less than 5% probability that the difference occurred by chance (i.e., p<0.05). Out of the 26 chemicals that were detected in both areas, only two chemicals (boron and calcium) showed any significant differences (see Table 4). Tables 5 and 6 have been added to the final release of the PHA to provide clarification to ATSDR's comparison of the Tl and Kv geologic units on the LIA to those on the rest of the island.
Response: ATSDR geologists determined that the mineralogy of the soils on Vieques is similar to naturally occurring soils that come from igneous/volcanic sources (that underlie a significant portion of the island). The areas that are not associated with underlying igneous rock would be expected to have a lower metal content. ATSDR considered the lower metal levels when determining that the mineralogy of Vieques is similar to soils elsewhere with a similar underlying geology.
Moreover, ATSDR evaluated all soil analysis data available based upon the underlying geologic rock type (i.e., soil parent material). ATSDR's Vieques team scientists are trained in the factors influencing soil formation and expected, based upon long-established scientific principles, to see differences in the chemical make-up of the soils reflecting, at least in part, the nature of those parent materials.
Comparisons Between Soils on Vieques Island, Sediments on Puerto Rico Island, and Soils in the United States
Response: As noted in the Section II.B of the PHA, only a generalized comparison can be made between the soil of Vieques and sediment in the mainland of Puerto Rico. Sampled stream sediments are generally representative of the soil and their parent material, however, several factors could introduce changes to the overall composition of the sediments as compared to the soil from which they were derived. Notwithstanding, ATSDR determined that comparing the soil on Vieques to the sediment on the mainland of Puerto Rico would still serve to point out generalized similarities or differences between the two areas.
Ideally, ATSDR would compare the soil on Vieques to soil on the mainland. While the soil data available in previous PHAs in Puerto Rico provides some information about specific locations in Puerto Rico, they do not provide the area-wide perspective available in the stream sediment sampling data collected by the United Stated Geological Survey (USGS) and the Puerto Rico Department of Natural Resources (PRDNR) (Learned et al. 1973).
Response: The use of the LIA for air to ground and ship to shore training increased after the closing of the Culebra Island range in the mid-1970s. USGS and PRDNR collected soil samples from Vieques in 1972, prior to this intensification of training activity (Learned et al. 1973). However, as described in Section II.H, these data appear to be elevated by as much as 4-fold. Therefore, instead of triggering a downward bias in average values, these earlier data are actually causing an overestimation of average soil contamination, by as much as 4-fold.
In addition, ATSDR's investigation of potential health effects from exposure to the soil on Vieques is a conservative evaluation, for the following reasons:
Response: It is difficult to determine the source of an "elevated" chemical concentration, especially when dealing with heavy metals in soil because natural geology plays a significant role on the composition of soil. The important consideration is that there are no apparent health hazards associated with exposures to the soil on Vieques, regardless of the source.
Spatial and Chronological Patterns in Metal Levels
Response: To provide further clarification to the spatial analyses, ATSDR included three figures (Figures 6-8) in the final release of the PHA that indicate the three types of patterns observed--western concentration, geologic association, and random distribution. As noted in Section III.D, none of the spatial maps depicted a progressive east to west trend. Thus, these analyses do not provide evidence of airborne transport of metals from the LIA to the residential area. Further analysis of this issue is being conducted by ATSDR using computer air transport models and will be presented in a separate air pathway evaluation (see Sections I and VIII).
Response: A spatial distribution of high chemical concentrations in the LIA (i.e., the presumed source) with decreasing concentrations tapering off to the west of the island for each chemical would have provided some indication that heavy metals from the LIA were migrating through the air towards the residential area. However, the distribution of each of the chemical concentrations do not illustrate such a pattern. Figures 6 to 8 show the spatial patterns (western concentration, geologic association, and random distribution) for the chemicals evaluated. For example, a western concentration of the highest levels of strontium detected is shown in Figure 6. Please see Section III.D for additional information about the trends that were observed. Further analysis of this issue is being conducted by ATSDR in a separate air pathway evaluation (see Sections I and VIII).
Response: Soil sampling data collected during past periods of live bombing might differ from current sampling data in the level of explosive compounds detected since live munitions contains high explosives and practice munitions contain inert materials. However, high explosive compounds are designed to react during impact leaving only extremely small quantity of explosive compounds after detonation. ATSDR evaluated soil sampling data collected during periods of live bombing (e.g., Learned et al. 1973; Marsh 1992; Hoffsommer and Glover 1978; Lai 1978; and PMC 1998) and data that were collected up to 14 months after the cessation of live bombing (e.g., CH2MHILL and Baker 1999; Garcia et al. 2000; and CH2MHILL 2000a). At this time, ATSDR is unaware of any planned future activities involving the use of live ordnance.
Response: ATSDR objectively evaluated the data using accepted scientific methods. A chronological link is not something that can be assumed, but must be substantiated by relevant data. Scientific objectivity does not allow for any preconceived opinions to interfere with the evaluation. In non-laboratory sciences the theory of multiple working hypotheses must prevail. Induction and deduction lead the scientist by continual testing of ideas (hypotheses) to a conclusion. That conclusion will be subject to testing against new data, if and/or when it is developed and available.
Response: Subsequent to the release of the public comment version of the PHA, ATSDR obtained a draft report that characterized the background levels of metals in the surface soils of the former NASD (CH2MHILL 2001). Given this new data, ATSDR compared the mean background soil concentrations from the former NASD (CH2MHILL 2001) to the mean soil concentrations for a subset (from the former NASD) of the earlier data (Learned et al. 1973), and found that the older data were 1.2 to 4 times higher than the background levels. Barium and calcium differ from this pattern for unknown reasons. In addition, the minimum values obtained during the earlier study were higher that the minimum values obtained during the recent background study, even though the minimum detection levels were higher than those used when the background analyses were performed. If there were no high-bias in the data reported in 1973 then several of the samples collected should have been reported as not detected.
Since sampling locations from both events were from areas unaffected by the Navy training activities, it would appear that the older data is artificially elevated (i.e., higher than the true values), by as much as 4-fold. Therefore, in light of the newly acquired background data, the chronological evaluation became invalid and ATSDR revised this discussion in the final release of the PHA (see Section III.C).
Response: In the public comment version of the PHA, ATSDR attempted to compare soil samples collected from the LIA in 1972 (Learned et al. 1973) to soil samples collected from the LIA in 2000 (CH2MHILL 2000a), to determine if this 28-year interval of Navy training had significantly increased the level of contamination at the LIA. However, new data (CH2MHILL 2001) received after the release of the public comment PHA indicated that the data collected in 1972 may be elevated by as much as 4-fold higher than the true values (as described in Section II.H). Therefore, this comparison became invalid and ATSDR revised this discussion in the final release of the PHA (see Section III.C).
Response: Vieques soil samples were compared to soil samples taken from uncontaminated areas across the entire conterminous (i.e., contiguous) United States.
Soil Sampling
Response: One of the goals of the sampling was to assess whether explosive compounds were present in the surface soil at the LIA (CH2MHILL 2000a). To meet this goal, CH2MHILL collected soil from 37 locations, including specific samples from drainage features and low lying areas which would collect stormwater runoff (19 samples), from within targets (7 samples), from known, protestor beach camps (4 samples), and from conservation zones upwind and downwind of the LIA (7 samples). Figure 5, which shows the sample locations, has been included in the final release of the PHA.
Response: When variations in soil sampling methodologies affected a conclusion ATSDR noted this in the PHA. For example, the health evaluation for arsenic notes that exposure to arsenic is based on levels detected in the soil at the LIA and near the Vieques Municipal Airport because sampling conducted in the residential area was not sufficiently sensitive to detect the low levels of arsenic possibly existing in the residential area (see Section IV.C). Also, ATSDR noted in the final release of the PHA that the data collected by USGS and PRDNR (Learned et al. 1973) appears to be elevated above true values by up to 4-fold (see Section II.H); and described how this affected any evaluations, where appropriate (for example, see Section III.B).
Response: EPA is a regulatory agency, whereas ATSDR is primarily an advisory agency. It is not unreasonable, in some cases, that a chemical concentration may be in violation of a regulatory level according to EPA, but may not be at a harmful level according to ATSDR. ATSDR's PHAs are driven by exposure, or contact. Even though chemicals may have been released into the environment, a release does not always result in exposure. People can only be exposed to a chemical if they come in contact with that chemical. If no one comes into contact with a chemical, then no exposure occurs, thus no health effects could occur.
In addition, ATSDR considers the level of exposure. Exposure does not always result in harmful health effects. The type and severity of health effects that occur in an individual as the result of contact with a chemical depend on a number of factors, including the exposure concentration as well as the frequency and duration of exposure. ATSDR analyzes the weight of evidence of available toxicologic, medical, and epidemiologic data to determine whether exposures might be associated with harmful health effects. Taken together, these factors help determine if health effects could occur as a result of exposure to a chemical in the environment.
Explosives and Ordnance
Response: Thank you for the information. Since the PHA was written, ATSDR has acquired additional usage data. Section II.F Ordnance Type and Use has been updated in the final release of the PHA.
Response: While five explosive compounds were detected in the soil on Vieques, all of them were detected at levels too low to be of health concern. As shown in Table 9, all concentrations of explosive compounds were below their respective health-based comparison values. Comparison values are derived using conservative exposure assumptions and reflect concentrations much lower than those known to cause harmful health effects. Thus, concentrations detected at or below these values do not warrant health concern. Furthermore, comparison values are protective of public health in all exposure situations, including dermal contact.
Response: ATSDR's PHAs are driven by exposure. If no one can contact the hazard, then no exposures occur, and no harmful health effects can occur. Because the LIA is a restricted area, residents and visitors of Vieques who are engaged in legal activities are not being exposed to unexploded ordnance or bombing debris. ATSDR does agree that the people who willingly choose to illegally trespass onto Navy property are taking a risk because despite the Navy's efforts to locate unexploded ordnance, removal efforts tend to only be 75% effective (Wilcox 1997).
Comparison Values
Response: Comparison values are developed by ATSDR and EPA from available scientific literature concerning exposure and health effects. Comparison values are media-specific and reflect an estimated chemical concentration that is not expected to cause harmful health effects for a given chemical. Thus, comparison values are protective of public health in essentially all exposure situations. CREGs, EMEGs, and RMEGs are non-enforceable, health-based comparison values developed by ATSDR for screening environmental contamination for further evaluation. RBCs and SSLs are non-enforceable, risk-based comparison values developed by EPA Region III to screen sites not yet on the NPL, respond rapidly to citizens inquiries, and spot-check formal baseline risk assessments. Definitions for these comparison values are provided in Appendix A.
Response: While concentrations at or below comparison values may reasonably be considered safe, it does not automatically follow that any environmental concentration that exceeds a comparison value would be expected to produce adverse health effects. It cannot be emphasized strongly enough that comparison values are not thresholds of toxicity. They represent chemical concentrations many times lower than levels at which no adverse effects were observed in experimental animal or human epidemiologic studies. The likelihood that harmful health effects will actually occur depends on site-specific exposure conditions, not an environmental concentration alone.
Before recommending actions, ATSDR first examines potential exposures to the contaminants in the soil by following the process described in Section IV. Evaluation of the Soil Exposure Pathway. This process enables ATSDR to weigh the available evidence in light of uncertainties and offer perspective on the plausibility of harmful health outcomes under site-specific conditions. Using this process, ATSDR determined that no harmful health effects are expected to occur from exposure to the soil on Vieques. If ATSDR's exposure evaluation process would have identified a situation that could result in harmful health effects, ATSDR would have issued a public health advisory warning of the danger and urged regulators to take actions to prevent adverse human health effects resulting from exposure to hazardous substances in the soil.
Public Health Conclusions
Response: As stated in our response to the previous comment, comparison values are derived using conservative exposure assumptions and reflect concentrations much lower than those observed to cause harmful health effects. While a concentration at or below the relevant comparison value could reasonably be considered safe, it does not necessarily follow that any environmental concentration exceeding a comparison value would produce harmful health effects. It cannot be emphasized too strongly that comparison values are not thresholds of toxicity. The likelihood that harmful health outcomes will actually occur depends on site-specific conditions and individual lifestyle, as well as factors affecting the route, magnitude, and duration of actual exposure--not an environmental concentration alone. Chemicals detected above comparison values are evaluated further by estimating exposure doses using site-specific exposure assumptions. ATSDR examines relevant toxicologic, medical, and epidemiologic data to determine whether these estimated doses are likely to result in harmful health effects. Although the concentrations of seven chemicals exceeded comparison values (see Table 9), after evaluating potential exposure doses, ATSDR determined that none of the chemicals are present at levels of health concern.
Response: No discrepancy exists between the values presented in Table 9 and Exhibit 3. The observation noted in the comment can be explained by further describing the distinction between cancer and noncancer screening values (e.g., comparison values and health guidelines) used by ATSDR in its public health assessment process.
Comparison values represent concentrations of a substance (in this case arsenic in soil) to which humans may be exposed during a specified period of time without experiencing adverse health effects. Separate guidelines are available for cancer and noncancer effects. ATSDR typically compares the maximum detected concentration with the most conservative (i.e., protective) comparison value available for that chemical. This process enables ATSDR to quickly identify concentrations that are not of public health concern (i.e., those below comparison values) and those that might require further evaluation (i.e., those above comparison values).
As shown in Table 9, ATSDR considered the CREG for cancer effects (i.e., the overall most conservative comparison value) and the child EMEG (i.e., the most conservative comparison value for noncancer effects) when evaluating health effects from exposure to the soil on Vieques. Even though only the child EMEG is reported in Table 9, an adult EMEG (200 ppm) also exists to evaluate noncancer health effects for adults. The maximum detected concentration of arsenic (36 ppm) exceeds the CREG (0.5 ppm) and the child EMEG (20 ppm), but not the adult EMEG; which is parallel to the comparison shown in Exhibit 3 (see next paragraph).
The next step in the health evaluation process is to look more closely at those substances that exceed comparison values. In doing so, ATSDR estimates exposure doses for adults and children based on site-specific considerations and compares those doses with available health guideline values. Health guideline values for noncancer effects include MRLs and RfDs, as shown in Exhibit 3. Consistent with Table 9, the child dose (based on the maximum concentration) exceeds the MRL/RfD, but the adult dose does not.
Exhibit 3 does not consider cancer effects because no health guideline value is available to evaluate cancer effects for arsenic, as there is for noncancer effects. Exceeding the CREG; therefore, has no bearing on the comparison of doses with MRLs. ATSDR addressed cancer health effects on a more qualitative basis in the arsenic evaluation in the PHA (see Section IV.C).
Response: An exposure dose is an estimate of how much of a substance a person may contact based on their actions and habits. Estimating an exposure dose requires identifying how much, how often, and how long a person may come in contact with a substance. The exposure dose equation described in Section IV.B of the PHA calculates a total dose accumulated over time, which is a useful number for health assessments (EPA 1992b). The standard equation that was used to estimate exposure doses in humans is an appropriate and conservative approach, consistent with ATSDR's Public Health Assessment Guidance Manual (ATSDR 1992a) and EPA's Superfund Risk Assessment Guidance (EPA 1989).
Response: ATSDR based the calculations for childhood exposure on highly conservative assumptions. Even though a lower body weight tends to overestimate exposure, using 10 kg for a child's body weight is justified for very young children, who are more apt to ingest soil than older children. According to the National Health and Nutrition Examination Survey (NHANES), the average body weight for children 6 to 11 months old is 9.1 kg (NCHS 1987 as cited in EPA 1997).
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The PHA reported 0.000720 mg/kg/day. Why is there a difference in the units and the value of the result?
Response: The discrepancy between the two calculations appears to be due to unit conversions. Below is a detailed account of the unit conversions necessary to complete the dose calculation. As the equations show, the units below all cancel, thus ensuring that the calculation is correct. ATSDR clarified this calculation in the final release of the PHA.
First, calculate the soil concentration into units consistent with those for the other parameters:
| 36 ppm of arsenic in soil | = | 36 mg of arsenic 1 kg of soil |
= | 36 mg of arsenic 1,000,000 mg of soil |
(since ppm = mg/kg and 1 kg = 1,000,000 mg)
Second, calculate the estimated exposure dose for arsenic using the equation and assumptions provided in the text of the PHA:
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The units cancel as shown below:

Which results in an estimated dose of 0.00072 mg of arsenic / kg of body weight / day.
Response: ATSDR conservatively used an adult ingestion rate of 100 mg/day to evaluate exposures rather than EPA's recommended value of 50 mg/day. This ingestion rate is supported by a tracer study that found that adults ingested from 30 to 100 mg of soil a day (Calabrese et al. 1990 as cited in EPA 1997). ATSDR noted this in Section IV.B of the final release of the PHA.
Response: While it may seem doubtful, scientific evidence exists to support the ingestion rates of soil in adults and children (EPA 1997). ATSDR is not assuming that the people of Vieques are literally "eating" soil, rather people are incidentally (i.e., accidentally) ingesting soil when they eat food with their hands, smoke a cigarette, or put their fingers in their mouths. Soil or dust particles can adhere to food, cigarettes, and hands and result in incidental ingestion. Children are particularly sensitive to this phenomena and are more likely to ingest more soil than adults. Furthermore, during a normal phase of childhood, children display hand-to-mouth behavior which inadvertently results in consumption of soil.
Response: Most of the literature on the effects of chemical mixtures focus on relatively high exposures that may produce results such as synergism, additivity, and non-competitive inhibition. However, concentrations far in excess of typical environmental concentrations are generally required to produce such effects.
Several studies, including those conducted by the National Toxicology Program (NTP) in the United States and the TNO Nutrition and Food Research Institute in the Netherlands, among others, generally support the conclusion that exposure to a mixture of chemicals is unlikely to produce any adverse health effects as long as the components of that mixture are present at levels well below their respective no observed adverse effects levels (NOAELs) (i.e., at concentrations that would have produced no adverse effects in animals treated individually with each component chemical; for reviews, see Seed et al. 1995; Feron et al. 1993). This observation appears to hold true whether the individual chemicals affect the same or different target organ(s) via different mechanisms and different exposure pathways (i.e., the situations that generally pertain to typical environmental mixtures). Even chemicals with the same or similar modes of action do not appear to exhibit either synergism or additivity, as long as the levels of exposure are well below the respective NOAELs of the individual chemicals; which is what was found for chemicals in the soil on Vieques.
The entire public health assessment process is lengthy, especially when addressing complex environmental issues. ATSDR is evaluating each exposure pathway separately to be most responsive to the petitioner and the people of Vieques. After all the individual PHAs are completed, ATSDR will prepare a short summary of all the health issues evaluated at Vieques. This summary will present the results of ATSDR's media-specific PHAs and will also consider whether overall exposures to environmental chemicals pose a public health hazard.
Response: ATSDR was prepared to take hair, blood, and urine samples from the residents of Vieques in 2001. To successfully complete the project ATSDR solicited the support and assistance of several Vieques physicians. However, the physicians have expressed reservation about whether the results will be reflective of actual exposures and have been unwilling to proceed. While the offer to collect hair, blood, and urine samples is still available, the project has been indefinitely postponed until the physicians are willing to assist.
In June 2001, at ATSDR's invitation, seven experts in the fields of hair analysis, toxicology, and medicine met to discuss the utility of hair analysis in evaluating exposures and health effects at hazardous waste sites. The experts agreed that "for most substances, insufficient data currently exist that would allow the prediction of a health effect from the concentration of the substance in hair. The presence of a substance in hair may indicate exposure (both internal and external), but does not necessarily indicate the source of exposure" (ATSDR 2001b). For more details, a discussion of hair analysis has been added to Section V. Community Health Concerns in the final release of the PHA.
Response: While ATSDR did not collect detailed behavior information, the conservative assumptions that were used to evaluate exposures are expected to overestimate actual exposures under normal circumstances and more-accurately estimate exposures for the protestors who lived on the LIA for a year. ATSDR based the ingestion rates on the likelihood that the people occupying the LIA were incidentally ingesting a higher than normal amount of soil every day.
EPA recommends using average ingestion rates of 100 mg/day for children and 50 mg/day for adults when calculating exposures, but notes that "200 mg/day for children may be used as a conservative estimate of the mean" (EPA 1997). In addition, ATSDR consulted the literature and found one study that estimated soil ingestion rates for children who were expected to have higher soil intake rates than normal (i.e., children vacationing at campgrounds). An average soil intake rate of 174 mg/day was reported (Van Wijnen et al. 1990 as cited in EPA 1997). Therefore, by using ingestion rates of 200 mg/day for children and 100 mg/day for adults, ATSDR took into consideration situations where people may incidentally consume more soil than under typical conditions (e.g., when the protestors lived on the LIA).
Additional Data
| Metal | Stated Background Concentration (CH2MHILL June 2001) units in ppm |
Stated Average Soil Concentration (PHA) units in ppm |
Stated Maximum Soil Concentration (PHA) units in ppm |
| Arsenic | 2.2 | 8.91 | 36 |
| Barium | 364.5614 | 594 | 3,000 |
| Cadmium | 0.04 | 1.6 | 31.3 |
| Chromium | 74 | 58.2 | 700 |
| Copper | 68 | 72.6 | 1,500 |
| Iron | 9,360 | 45,600 | 150,000 |
| Lead | 4.19 | 17.1 | 1,000 |
| Manganese | 1,167.178 | 1,200 | 5,000 |
| Zinc | 65.09994 | 78.5 | 3,000 |
| Mercury | 0.04564024 | 0.0275 | 4.21 |
| Vanadium | 183.6659 | 162 | 500 |
Response: Thank you for bringing these data to ATSDR's attention. ATSDR was not aware of the report cited as it is in draft form and not yet available for release. Based upon an evaluation of this new data, ATSDR agrees with the commentator--the concentrations of metals at the LIA are indeed higher than background concentrations within the former Naval Ammunition Storage Detachment (NASD). ATSDR has revised Section III.C in the final release of the PHA to reflect this conclusion. It is important to note that even though the heavy metal concentrations are higher in the LIA than the former NASD, none of the levels are of health concern (see Section IV).
Response: ATSDR contacted the Navy and confirmed that all currently available data in the non-range areas of the EMA/Camp Garcia have already been incorporated into the PHA.
The "Final Expanded Preliminary Assessment/Site Investigation, US Naval Ammunition Storage Detachment, Vieques, Puerto Rico" (CH2MHILL 2000b) investigated contamination at several solid waste management units (SWMUs) in the former NASD. Surface soil samples were collected and analyzed for organic compounds, metals, pesticides, polychlorinated biphenyls, and explosives. Contamination at these SWMUs is not associated with the Navy's bombing activities at the LIA, rather local sources at the former NASD (e.g., disposal sites and underground storage tanks) contributed to the contamination. Using the same procedures and methodologies described in the Evaluation of the Soil Exposure Pathway (Section IV) discussion of the PHA, ATSDR reviewed the surface soil data and determined that none of the SWMUs pose a public health hazard. The concentrations of chemicals at the SWMUs are not at levels of health concern for anyone exposed to the soil at these sites.
Response: ATSDR's PHAs are driven by exposure. People can only be exposed to a chemical if they come in contact with that chemical. If no one comes into contact with a chemical, then no exposures occur, thus no health effects could occur. When evaluating exposures to soil, ATSDR is most concerned with the top 6 inches of the soil because that is the layer that people can easily contact. Deeper soils are inaccessible and; therefore, no exposures of harmful health effects could occur from any chemicals present.
Response: ATSDR carefully considered the possibility that explosive compounds might transport in the air and deposit on soils in downwind areas. First, ATSDR notes that explosive compounds in the bombs dropped on Vieques are largely destroyed upon impact. That is, explosive compounds react during impact, releasing large amounts of energy, and only a small quantity of the explosive compounds remain after detonation.
Second, if long-range transport of explosive compounds occurred in appreciable amounts, then one would expect to find soils throughout the downwind areas with explosives contamination. However, the soil sampling data collected on the eastern edge of the residential area of Vieques found no evidence of explosive compounds. Specifically, explosives were not detected in 32 samples collected from storm drains along the border that receives runoff from the Navy's land (CH2MHILL and Baker 1999). It is unlikely that explosive compounds would be detected further downwind from this sampling area (e.g., in the soils of the residential area) if explosive compounds were not detected along this boundary zone between the residential area and the EMA. ATSDR's PHA on the air exposure pathway presents further information on atmospheric transport of contaminants from the LIA (see Sections I and VIII).
Response: ATSDR contacted the Navy and confirmed that all currently available data near OB/OD areas within the LIA have already been incorporated into the PHA; with the exception of data that were analyzed according to Toxicity Characteristic Leachate Procedure (TCLP) (personal communication with Atlantic Division Naval Facility Engineering Command personnel, March 2002). Samples are analyzed using TCLP to help regulators determine whether the soil qualifies as and should be disposed of as hazardous waste. Data analyzed according to TCLP confirm the potential presence of certain chemicals in the soil and their potential to leach, however, the results do not provide any indication as to the concentrations present. Remember that the presence of a chemical will not automatically result in harmful health effects. The type and severity of health effects that occur in an individual as the result of contact with a chemical depend on the exposure concentration (how much) and the frequency and duration of exposure (how long). Therefore, data that do not provide the concentration of the chemical in the soil do not provide useful information for an evaluation of public health exposures.
This PHA is focused on addressing the petitioner's concerns about Naval bombing activities at the LIA. As noted in Comment 44, the Navy investigated contamination at several SWMUs in the former NASD, including one inactive OB/OD area (CH2MHILL 2000b). Surface soil samples were collected and analyzed for organic compounds, metals, pesticides, polychlorinated biphenyls, and explosives. Even though contamination at these SWMUs is not associated with the Navy's bombing activities at the LIA, ATSDR reviewed the surface soil data and determined that none of the SWMUs pose a public health hazard.
Response: ATSDR evaluated the technical and scientific data in the referenced documents and summarized the essential information in the PHA for the general public. The full references are provided in the PHA for those wishing to evaluate the original studies themselves.
Response: In May 1978, the Naval Surface Weapons Center obtained and analyzed soil samples for explosive compounds from two areas within the EMA (described as "soil near Bahia de la Chiva, Maneuver Area, Camp Garcia" and "soil near brackish water at Bahia Tapon") and four areas within the LIA (described as "soil sample between craters A and B," "soil from small lagoon," "soil from dry lagoon," and "soil from crater B Demolition Range #6") (Hoffsommer and Glover 1978). They also took water samples from 11 areas outside the LIA and from 15 areas within the LIA. These data were appropriately included in ATSDR's evaluation of the drinking water supplies and groundwater on Vieques (ATSDR 2001a). This PHA, the Soil Pathway Evaluation, evaluates only those pathways involving exposure to potentially contaminated soil on Vieques and; therefore, presented and analyzed all available soil data.
Response: Data collected by Neftalí Garcia was included in the PHA. The reference is:
Servicios Científicos y Técnicos, Inc. (SCI). 2000. Environmental impact of Navy activities in Vieques. Dr. Neftalí Garcia, Ana M. López, Mariela Soto, Shereeza Rosado, and Brenda Berríos. July 11, 2000.
At this time, ATSDR is not aware of any soil data collected by Dr. Jorge Fernández. ATSDR welcomes any additional information to support our ongoing efforts on Vieques. Please send additional information to:
Program Evaluation and Records Information Services Branch
ATSDR, Division of Health Assessment and Consultation
Attn: Isla de Vieques, Puerto Rico
1600 Clifton Road, NE (E-56)
Atlanta, Georgia 30333
Response: Figure 4, which shows all the sample locations, has been included in the final release of the PHA.
Other Exposure Pathways
Response: Community concerns about heavy metal accumulation in plants and animals around Vieques have been included in the final release of this PHA (see Section V. Community Health Concerns). To address the concern about marine life, ATSDR contracted EPA to collect and analyze fish and shellfish in the coastal waters and near shore areas of Vieques in July 2001. ATSDR's fish and shellfish evaluation documents the results of the sampling and public health evaluation (see Sections I and VIII).
Response: Thank you for the information.
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