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ORRHES Meeting Minutes,
January 18-19, 2001
January 18, 2001
The Agency for Toxic Substances and Disease Registry (ATSDR)
and the Centers for Disease Control and Prevention (CDC)
convened the second meeting of the Oak Ridge Reservation
Health Effects Subcommittee (ORRHES) on January 18-19, 2001.
The meeting, which was held at the YMCA of Oak Ridge, began
at 9:00 a.m.
Members present were:
Alfred A. Brooks, Ph.D.
Robert Craig, Ph.D.
Donald A. Creasia, Ph.D.
Kowetha A. Davidson, Ph.D., Chair
Robert Eklund, M.D.
Edward L. Frome, Ph.D.
Karen H. Galloway
Jeffrey P. Hill
David H. Johnson
Susan A. Kaplan
Andrew J. Kuhaida, Ph.D.
Ronald H. Lands, M.D.
James F. Lewis
Lowell P. Malmquist, D.V.M.
L.C. Manley
Donna Mims Mosby
William Pardue
Barbara Sonnenburg
Charles A. Washington
Member Therese McNally was absent.
All the liaisons to the Subcommittee attended:
Elmer Warren Akin, U.S. Environmental Protection Agency
(EPA)
Brenda Vowell, R.N.C., Tennessee Department of Health
Chudi Nwangwa, Tennessee Department of Environmental Conservation
(TDEC)
Agency staff present were:
ATSDR: Bert Cooper, Henry Falk, Michael Grayson, Jack Hanley,
Sandy Isaacs, Karl Markiewicz, Bill Murray, Vincent Nathan,
Therese NeSmith, Marilyn Palmer, Jerry Pereira (ORRHES Acting
Executive Secretary and Acting Designated Federal Official
[DFO] for Ms. Loretta Bush), Robert Williams.
CDC/National Center for Environmental Health (NCEH): Arthur
Robinson, Henry Falk.
CDC/National Institute for Occupational Safety and Health
(NIOSH): Larry Elliott
Department of Energy (DOE): Headquarters: Marsha Lawn,
Paul Seligman.
Oak Ridge Reservation: Mary Margaret Brock, Bob Dempsey,
Leah Dever, Brenda Holder, Timothy Joseph, Reba M. Rose.
Eastern Tennessee Health Office: Art Miller
Tennessee Department of Environmental Conservation: Robert
Macklin, Renee Parker
Others present over the course of the meeting included:
Suzanne Baksash, epidemiologist
Fannie Ball, Oak Ridge
Glenn Bell, HE
Gordon Blaylock, SENES
Louise Boone, Oak Ridge
Romance Carrier, OR Health Liaison (HL)
Walter Coin, Oak Ridge
Donna Cragle, ORISE
Jan Connery, Eastern Research Group
LeRoy Desgranges, DOE worker
Susan Gawarecki, ORR LOC/CAP
Ann Henry, Methodist Medical Center
Katherine Kirkland, AOEC
Fay Martin, Oak Ridge
Marie Murray, Atlanta, GA (recorder)
Norman Mulvenon, LOC/CAP
Shayam Nair, Cadmus Group
Peter Osborne, Bechtel Jacobs
Rebecca Parkin, George Washington University
Jim Phelps, DOE Watch
Willow Reed, SENES
Melanie Russo, Eastern Research Group
J. A. Shaakir-Ali, NAACP
John Steward, PACE
Janice Stokes, SOCM/ORHL
John Stockwell
Debbie West, Nashville, TN (Court Reporter)
Torri Whitmore, Methodist Medical Center
Opening Comments
Chair Dr. Kowetha Davidson welcomed the attendees. She
encouraged comment from members of the public during the
public comment periods, or in discussion with the Subcommittee
members during breaks or outside the formal meeting proceedings.
She reported on:
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ATSDR's action items from the last meeting were all
completed.
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The November meeting Minutes will be approved at the
next meeting, and in future will be provided well enough
in advance to allow comments to be returned before the
following meeting. (The same was requested for the meeting
agenda.)
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Communications to the Subcommittee since the last meeting
included:
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Copies of the Oak Ridge Dose Reconstruction Study
Summary Report.
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A letter from Mr. Pereira outlining the non-FACA character
of work groups, allowing the Subcommittee to decide
how they would function, and a calendar of potential
future meeting dates. The members' comments on the latter
and on their biographies were requested.
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A letter from Dr. Kathy Teeson, commenting on the
dose reconstruction study, which was available to the
members.
Dr. Frome requested that TDEC's DOE Oversight Division
report of December 1999 be made available to the Subcommittee.
Ms. Sonnenburg asked if more than five Subcommittee meetings
could be held per year. Mr. Pereira confirmed that, but
expected that budget considerations make 3-4 meetings per
year more likely.
AOEC Presentation
Dr. Katherine Kirkland, Executive Director of the Association
of Occupational and Environmental Clinics (AOEC), outlined
their history and involvement with the Oak Ridge project.
Established in 1987, the AOEC is a multidisciplinary network
of more than 60 occupational and environmental health medicine
clinics and about 250 individual members. Their mission
is to advance the expansion and development of clinical
occupational and environmental health practice, research
(mostly prevention and diagnostic), and education. Their
focus is on patient rights, using the public health model.
The AOEC is funded mostly through two cooperative agreements
with ATSDR and CDC's National Institute for Occupational
Safety and Health (NIOSH), and by membership dues.
The criteria for clinic membership include agreement to:
1) abide by an international code of ethics guiding clinic
operations; 2) have a physician on staff who is certified
by the Board of Occupational Health (there are <3000
occupational physicians in the U.S. and Canada and <2000
practicing). Within the patient-focused care, prevention
is regarded as key; and labor, community and business input
is invited. Dr. Kirkland noted that part of the reason the
AOEC was formed was to fill the gap left by the absence
of any nationally recognized Board certification in the
field of environmental health. Occupational physicians with
patients affected by environmental factors generally must
address a low, chronic dose, as opposed to the high, toxic
doses seen in an emergency room.
The AOEC's activities encompass health promotion and education
to improve the infrastructure to address health concerns;
consultations,(1) which include
clinical evaluations and collaborations with community members
and medical practitioners; research. They developed nine
Pediatric Environmental Health Specialty Units (PEHSU) in
the U.S. and one in Canada to fill the knowledge gaps of
pediatricians and AOEC physicians about each other's areas.
They are developing educational materials and are available
by telephone to health care providers and community members.
Callers can dial a toll-free Region 5 office number, in
cooperation with George Washington University (GWU - toll-free
at 1-866-622-2431); be referred to an AOEC office at 202-347-4976;
or e-mail the organization at <aoec@aoec.org>. Their
Web page links to other resources, provides the clinic listings,
and the AOEC educational resource library listing (including
selected presentations). They also are working with NIOSH
to develop a comprehensive occupational and environmental
exposure database, to hold coded data summaries of occupational
exposures nationwide.
Clinics are selected for projects following certain steps.
Upon receiving a Request For Proposal (RFP) from ATSDR,
the AOEC will work with an area clinic. If one is not available,
an RFP is issued to all AOEC member clinics. The responses
are reviewed by at least three health care professionals
for their ability to match the needed expertise (e.g., in
Oak Ridge, to reach out to the community as well as to conduct
clinical work). The Oak Ridge work will be a multi-phased
project, beginning with a needs assessment to determine
community concerns, which will then be incorporated into
ATSDR's health assessment. Thereafter, GWU will meet with
ATSDR and the ORRHES to discuss the possible next steps.
Presentation of the
ORR Health Education Initiative
Dr. Rebecca Parkin, a faculty member of the GWU
School of Public Health and Health Services, presented the
Oak Ridge Reservation Health Education Initiative (ORRHEI)
on behalf of her two research colleagues, Dr. Tee Guidotti
and Dr. Grace Parazino, who were unable to attend. Both
have worked on similar projects previously.
She presented the qualifications of the research team in
detail, and described the goal of the ORRHEI: to facilitate
the health decision-making of residents living near the
Oak Ridge Reservation. The project purposes are to:
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Develop new knowledge/insights about the Oak Ridge
communities' current health concerns and needs (e.g.,
by reviewing existing documents and through dialogues
with community residents).
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Provide an effective summary of findings for the timely
implementation of a community health education plan.
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Develop a sound foundation for the needs assessment
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Conduct the Health Education Needs Assessment.
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Report the results to the community and sponsors.
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Make recommendations for a community health education
action plan.
The project is based on the underlying principles that
effective program planning requires sound information, which
is collected by a needs assessment. An effective project
involves a comprehensive and collaborative approach, complementary
methods, and community input from beginning to end. She
described the methods to be used (and the related information
needed from the Subcommittee), with each step building on
the previous work: 1) interviews (who should be interviewed?);
2) focus groups (who should be polled; should any be prioritized?;
how to identify and contact residents?); 3) a telephone
survey to investigate pertinent issues (who to survey; address
any priority areas?; how to identify and contact residents?).
The latter will be conducted to a representative sample
of the entire "community", however that is defined.
The fundamental questions requiring the Subcommittee's
input include: 1) what are the most important questions
to ask the community; 2) who needs to be asked these questions;
3) determining the community's answers; and 4) judging how
the answers can best be interpreted for educational planning.
The community information needed includes its: 1) perceptions
(about health effects, environmental hazards); 2) knowledge
(what is known/not known about the site and any related
effects); and 3) interpretations of risk (from potential
and actual exposures). The data sources come from existing
records (vital statistics and reports/article), the interview
with key community informants, health officials, and health
care providers, from the focus group discussions with residents,
and from the telephone survey of current residents. The
resulting information to be analyzed will be based on and
help to prioritize the health concerns and educational needs
of groups of people (not individuals).
GWU has already begun this work. They have reviewed existing
reports, published articles and print media coverage; and
have begun summarizing those recorded past concerns. However,
not much more can be done without discussion with this Subcommittee.
Dr. Parkin asked how best to obtain community input on the:
1) project design (defining "community" e.g, by geographic
boundaries?; "resident", groups of concern, methods); 2)
questions to be asked (priority issues); and 3) final report
or product desired (goal, contents, type of report).
1. How should "community" be defined? Geographic scope?
Level of "community" groupings? The subcommittee's
responses were:
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This depends on the pathway. The primary
sources of transport are expected to be by water downstream
from the Reservation through the Clinch River into the
Watts Bar Reservoir. The airborne transport by
easterly and westerly winds went in the opposite direction
of the valleys; use the NOAA studies of wind
movement between ridges and valleys. The Watts Bar dam
halted the transport, but perhaps its sediment should
be considered.
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In view of less use of personal protective equipment
(PPE) in the past; 1) consider transport home to
families, 2) geographic communities such as Scarboro,
and 3) those at a distance that dispersion modeling
indicates could have been affected, including through
their vegetable gardens. A noted rise in allergies in
individuals free of them before moving to the Oak Ridge
area led to speculation about the role of steam plants'
particulate emissions.
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Since at one time, <40% lived of Reservation workers
lived in Oak Ridge (no longer true), guide the constructs
from area employers information.
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Define the community as the 7-8 counties served
by the Oversight Committee as a starting point, and
include direct and indirect impact.
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Make use of the $14 million spent by the state, and
use the map in the Oak Ridge dose reconstruction
project (Figure 1-1 map) of locations of interest
for the dose reconstruction and screening calculations.
And, superimpose a geologic map to address,
for example, rapid absorption of the porous limestone
surface under K-12.
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Identify exposures in the community that may not
be in workplace. Dr. Parkin noted that GWU will
not do exposure assessments in Phase I, or seek retirees
who may have moved elsewhere; they will only identify
community concerns. Workers can be included in that,
if recommended by the Subcommittee, but this was not
the focus of the initial proposal submitted. Guidance
will be needed on how much time/work GWU should devote
to this aspect. Related issues are of staff available,
not funding, and properly scoping the work to produce
answers in specific period of time. Future phases could
include further work.
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Be sure to note if the phone survey or focus groups
show no community concern.
Dr. Brooks moved that the geographic scope for
health effects studies include the Oversight Committee's
represented 7-8 county area: Anderson, Knox, Roane, Loudon,
Meigs,Rhea, and Morgan; and the city of Oak Ridge.
Mr. Craig seconded the motion. This spurred discussion of
whether or not to include Blount county, as was done by
the dose reconstruction project. Dr. Brooks noted Blount's
absence of downstream waterways and felt that it was too
far for potential airborne exposures. Dr. Sham Nayad, who
had participated in the dose reconstruction, reported that
they had considered airborne dispersion to a 50 km area,
which included Blount county, and the Watts Bar River area.
Dr. Davidson called for a vote, in which a majority
carried the motion to include the seven counties.
2. How should "community" be defined; how finely should
the 7-county area be defined? The answer would alter
the selection participants in the focus groups and the phone
survey (i.e., to pursue targeted pictures of selected areas,
or a random sample). The Subcommittee responded:
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Use the dose reconstruction data in the first cut,
surveying the counties randomly; then focus on specific
areas. Dr. Parkin responded that the eight focus groups
are planned to address specific topics, with one being
a general population group (needed to determine community
knowledge) and the other seven areas being discretionary.
The focus groups' data will be used to develop the phone
survey questions.
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Oak Ridge, Anderson and Roane counties have groups
already meeting; follow up with their Chairs, and consult
with the counties' Health Councils, which have
already done diagnostic work.
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The Scarboro community has already been addressed by
multiple studies, producing much data already on those
concerns.
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Special consideration in forming focus groups should
be given to seniors, and perhaps an intergenerational
group. For seniors, telephone interviews may be required.
Mr. Pereira thought it may be important to use the same
logistical treatment in a standard approach in each county,
since the community's expectations will rise with all of
this work, posing implications to the project's credibility.
He suggested that the Communications/Outreach Work Group
address this; or, Dr. Davidson suggested, a separate group
could address only this. However, Dr. Brooks disagreed.
He noted that the geographic area chosen includes several
communities of interest, 15-20 miles adjacent to the Reservation,
which have expressed concerns about airborne, waterborne,
and close-in soil contamination. Since little interest has
been expressed historically by the more distant counties,
this suggests the address of certain groups, rather than
allocating equal time to all the counties. Dr. Parkin clarified
that the focus group individuals will reflect targeted areas
of concern, as long as geographic parity can be maintained
in all the groups.
Dr. Parkin answered several questions from the Subcommittee:
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What is the work time line? The time line
for the completion of the needs assessment, originally
May, can be flexible, depending on the design. The GWU
Institutional Review Board (IRB) must approve the instruments
to be used and normally requires 2-3 weeks to do so
for each piece of the work. Therefore, the time line
can be extended 1-2 months, but not for example, 6-12
months.
-
What is the focus groups' purpose? They are
intended to gather the information that, for logistical
reasons, GWU cannot collect in a door-to-door survey.
That data will help to define key questions with which
to survey the overall population; and the latter can
inform the design of educational programs to help community
members make effective health decisions. The focus group
moderators listen for themes (e.g., the issues that
worry these particular types of people) as opposed to
specific concerns (e.g., heart disease or cancer).
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How will you collect information already gathered
in past? GWU hopes to find them in the project's
discovery phase, which also will solicit such information
from community leaders. Dr. Parkin welcomed all suggestions,
and provide a tabled list of the documents being reviewed
(Attachment #1), which is continuously updated.
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How will you select focus group participants? Various
methods; for example, if teachers are desired, their
meetings will be attended to invite their participation.
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Does the recommendation on the seven focus groups
go straight to GWU, or through the Subcommittee?
ATSDR will forward that information to GWU, after the
Work Group channels it through the Subcommittee to the
agency; but that need not be delayed to March.
Mr. Hill moved that the Communications/Outreach
Work Group explore what issues the focus groups should address,
and return with a recommendation to the full committee.
Ms. Sonnenburg seconded the motion, asking for
the Work Group's recommendation prior to the March meeting.
Ms. Kaplan, the Work Group Chair, urged all the members
to participate in this work. Upon a vote, the motion
passed, with 15 in favor and 3 opposed. Ms. Kaplan
called for a clear mission statement for the Work Group,
and noted that questions had already arisen about sick workers
as well as community residents. Dr. Brooks noted that the
Communications/Outreach Work Group's task would also indicate
the scope of the survey. Mr. Pereira stated that if more
than eight focus groups are needed, they will be formed.
The importance of this initial step calls for inclusiveness
to ensure the end result is not flawed. Dr. Kirkland noted
that the AOEC focuses on both environmental and occupational
health effects, so workers could be the subject of one focus
group. The AOEC will report their final findings to the
community, not ATSDR. While the Subcommittee's mandate does
not involve addressing worker issues, recommendations on
those could go to NIOSH or DOE.
Public
Comment
Dr. John Stockwell recommended the1999 Oak Ridge
Dose Reconstruction Study Report as reading material to
the members. He specifically pointed out the isopleths ("risk
contours") provided in Volume 7 (page 24), which indicated
areas that the contractor (Chem Risk) thought to be at risk
for I-131-caused cancer. That area included Blount County,
which had three times the risk of Morgan county.
Mr. Jim Phelps related that he was part of the
staff that "covered up" incidents at Oak Ridge. He stated
that the concentration of depleted uranium (DU) in bones
and the lymphatic system has affected Gulf War veterans,
knowledge held but not released by Oak Ridge scientists.
Rather, they suggested using urine tests to detect DU, which
is an inadequate diagnostic method. DU and fluorides act
similarly to the capacity of beryllium oxide in lungs and
lymph nodes to shut down lung immune defenses, causing calcification
and death. He equated fluoride to the toxicity of rat poison,
and stated that hydrogen fluoride leaks are known to have
occurred. The oil well and power systems blown up by Allied
forces in the Gulf War also contained the same materials
as used at Oak Ridge, and the exploded nerve gases also
released fluorides. Finally, Mr. Phelps challenged the committee
to uncover such important information and to report it accurately.
Dr. Faye Martin expressed her pleasure that the
committee is in place, and hoped that something could be
done to help the sick workers before they all die.
Ms. Janice Stokes considered iron-clad adherence
to Robert Rules to be counter-productive, and recommended
that the liaisons from the EPA, Health Department, and TDEC
be identified and separately seated to allow the public
to know who they are.
Work
Group Reports
After the lunch break, the work groups reported on their
activity.
Agenda Work Group.Aside
from working on this meeting's agenda with ATSDR, Dr. Brooks
outlined and distributed a draft Program of Work (Attachment
#2) to facilitate development of future agendas. Comments
by ATSDR, the Subcommittee and the researchers were invited.
It is meant to be a living document to be refined over time
with input, the progress of the public health assessment
process, and other work.
Communications
and Outreach Work Group. Ms. Kaplan reported
the Work Group's meeting on January 9, and distributed its
draft Purpose and Statement of Work. (Attachment #3).
The Subcommittee members' feedback included:
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Identifying new members is not a Work Group role, although
groups with potentially interested individuals could
be identified for ATSDR to contact. Mr. Pereira outlined
the member solicitation process. The Communications/Outreach
Work Group was invited to participate in publicizing
member vacancies, or in suggesting the type of person
who should be selected. ATSDR then conducts a rigorous
selection process involving the multiple criteria discussed
at the last meeting.
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Dr. Brooks moved to refer the draft back to
the Work Group for rewording (e.g., to "attracting"
or "advertising for," rather than "identifying" new
members). The motion was seconded, and with 16 in favor
and one opposed it passed.
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Ms. Sonnenburg moved to approve the balance
of the report, was seconded by Mr. Pardue,
and the motion passed unanimously.
Guidelines and
Procedures Work Group. Mr. Pardue reported
that the Guidelines and Procedures Work Group's draft Statement
of Work (Attachment #4) was not approved by the whole Work
Group due to the press of time. He first provided the draft,
to no comments, and reviewed the development of the Subcommittee's
guiding documents to date.
A draft of the "ORRHES Purpose, History, Structure, and
Process," that was developed by the Eastern Research Group
(ERG) and discussed/modified at the last meeting, was reviewed
by the Guidelines and Procedures Work Group in November.
They met again on December 12, reviewed the ORRHES members'
comments on the ERG document, discussed alternate approaches,
and asked ERG's Dr. Jan Connery to prepare revised documents.
Those revisions were discussed on December 28, and minor
adjustments were made. The Work Group members agreed that
the process document and by laws should have equal standing
and be considered together. Dr. Brooks revised the documents,
which Dr. Connery finalized, and they were sent to the members
on January 9, 2001. Their purpose is to: 1) provide structure
and consistency, 2) promote a free and open exchange of
information, 3) develop defensible and understandable output,
4) allow maximum public input, and 5) provide consistency
with FACA.
Topics still requiring refinement and discussed were:
1. Equivalence of the Process document and the by-laws.
Committee discussion included:
-
Avoid confusion by prioritizing the guiding documents
for the Subcommittee's operation (e.g., 1) FACA regulations;
2) by-laws; 3) procedures document to inform the by-laws'
described process).
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Include the process document by reference, giving it
equal weight.
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Recombine the two documents, structured to be clear
that the two sections are independent (i.e., FACA requirements
and by-laws). Refer back to the Work Group and redraft.
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Dr. Brooks moved to change the Procedures document's
appendix to become Chapter 6. The motion was
seconded by Mr. Johnson and all agreed.
2. Need for a Vice Chair. Mr. Hanley was still
checking as to whether a Vice Chair could serve, and asked
what that position's role would involve. The Work Group
agreed to discuss this and advise ATSDR. Mr. Pardue suggested
text such as "The Vice Chair acts and performs in the absence
of the Chair and performs other duties as decided by the
Chair." Mr. Robinson advised the Subcommittee that, two
years earlier, CDC's Committee Management had determined
that the Idaho Subcommittee could not have a Vice Chair,
and that the DFO would so serve in the absence of the Chair.
Dr. Brooks moved to refer this back to the Work
Group subject to the response of the ATSDR Legal Department.
The motion was seconded and unanimously passed.
3. Life of the Work Groups. The life of a work
group is up to the Chair and the Subcommittee, according
to its task. It is not covered by FACA because it does not
decide policy.
4. Designation of a Parliamentarian. Since the
Chair is too busy running the meeting to interpret Roberts
Rules, Dr. Brooks volunteered to serve as Parliamentarian.
The Subcommittee discussion included:
-
Concern was expressed that all the members be familiar
with Roberts Rules, to ensure that no one is intimidated
from fully discussing any topic. A rigid adherence to
the Rules, as occurred earlier in the day, and their
use to cut off communication was opposed.
-
But is was also noted that Roberts Rules are very flexible.
Votes can suspend the Rules or limit the debate; most
address the use of motions to conduct work, not to enforce
decorum.
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Mr. Johnson moved to refer the item back to
the Work Group for further research based on this discussion,
recommending on which Roberts Rules are likely to be
applied and how. On Mr. Robinson's suggestion, the consensus
process will also be considered. The motion
was seconded by Mr. Kuhaida and unanimously passed.
5. Agenda inclusion of the public comment period and
adjournment. Dr. Brooks moved to include
the public comment period and adjournment in the agenda.
The motion unanimously passed,
and this was referred back to the Work Group for inclusion.
6. Specification of agency liaison relationships to
this committee. The question discussed at the last
meeting of having a DOE liaison present to participate in
the Subcommittee's discussions (as opposed to a resource
person), was reviewed by the Work Group, which recommended
having that liaison. The Subcommittee's opinions were divided:
-
This may be perceived by the public as bending to DOE
intimidation. Since it is in DOE's interest to always
be present, they need not be added to the table.
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On the other hand, the Subcommittee could be seen as
failing if it bends to that perceptual pressure and
does not take advantage of that liaison relationship.
Altering the guidelines' Figure 2 already had been proposed
to show DOE's working relationship. CDC and ATSDR involvement
has also been perceived as "tainting" the process; the
committee should structure itself to optimize its work.
DOE is a major player which should be actively involved.
They could provide the Subcommittee with information
about which it is unaware (and therefore cannot ask
for it). Having them at the table also can ensure that
everything is above-board.
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Ms. Mosby moved to accept Figure 2, altered
to show all the non-voting liaison relationships with
the Subcommittee, including that of DOE. Mr.
Pardue seconded the motion. Eleven voted in favor and
seven were opposed, which led to the following discussion.
Discussion
of Subcommittee Voting Protocol
Ms. Sonnenburg noted that the by-laws suggest that a super
majority (2/3 vote) be used. She felt that, since this last
discussion addressed a very controversial issue, 2/3 should
be required, but noted that the by-laws had not yet been
approved. In view of that, Dr. Davidson felt that this vote
should follow the simple majority required by Roberts Rules.
Dr. Brooks moved to table the discussion to the
next meeting and the Subcommittee's agreement on what constitutes
an affirmative vote. The motion was seconded by
Ms. Sonnenburg. With 14 in favor and two opposed, the
original motion was tabled to the next meeting. Dr.
Eklund requested a copy of Roberts Rules for each committee
member. (Mr Hanley provided an abbreviated Robert Rules
pamphlet issued by the League of Women's Voters to the committee
members later in the meeting.) Mr. Akin asked that the Figure
be clear that the liaisons are nonvoting members. Dr. Eklund
moved to designate the liaison agencies and their
nonvoting status on the table name plates. Mr.
Washington seconded the motion, which passed
with 14 in favor and one opposed.
Round
Table Discussion With Agency Management Staff
A round table discussion was held with the Subcommittee
by agency management representatives: Dr. Paul Seligman
of DOE; Dr. Henry Falk and Dr. Robert Williams of
ATSDR; and Mr. Larry Elliott of NIOSH.
ATSDR Comments
Dr. Henry Falk, Assistant Surgeon General and ATSDR Assistant
Administrator, is a pediatrician and environmental epidemiologist.
He was the Director of CDC's National Center for Environmental
Health, and has been for the last 18 months ATSDR's Assistant
Administrator (the CDC Director is also ATSDR's Administrator).
Working at 500-1000 sites/year, ATSDR's work is complex
and its service is occasionally hard to define. Their most
important work is related to the sites of the National Priority
List (NPL) and those of the Departments of Energy, Defense,
and Interior; NASA, and others.
Dr. Falk appreciated the member's service, and looked forward
to its help in pulling together the work at Oak Ridge and
in evaluating the public health work and research done.
He hoped the Subcommittee would also help facilitate the
necessary cross-agency discussions, since ATSDR deals with
communities near the sites rather than the workers (NIOSH
addresses worker issues). He reported that Mr. Bill Murray,
recently retired from a long history with the Public Health
Service, had been hired by ATSDR to staff its Oak Ridge
office, which is soon to open.
ATSDR's activities will include: 1) the needs assessment,
to help clarify issues and focus agency work; and 2) the
public health assessment, in which the Division of Health
Assessments and Consultations evaluates all pathways in
a global fashion to indicate the public health activities
needed. ATSDR's wide range of activities address the very
disparate characteristics of all the sites. Its multidisciplinary
staff includes environmental scientists and engineers, epidemiologists,
health educators, toxicologists, community program specialists
(e.g., health education, physician education), etc.
NIOSH Comments
Mr. Larry Elliott, Chief of NIOSH's Health-Related Energy
Research Branch (HERB), conveyed the greeting of NIOSH's
Acting Director, Dr. Larry Fine. CDC's only Institute, NIOSH
is also its occupational research agency. Their established
research agenda of studies across the DOE complex includes
work at Oak Ridge's three sites. The research agenda, with
study summaries, has been published in a program book. It
will be updated shortly and will be provided to the committee
and public. NIOSH also has a service support mission at
various DOE sites.
The NIOSH "worker days" held on sites have proven effective
in maintaining communication and interaction with both organized
and unorganized labor. While NIOSH's interaction with the
Subcommittees differs from that of ATSDR and NCEH, since
their responsibility is directly to the workers, the Subcommittee's
comments on worker issues will be welcome. As required by
FACA, NIOSH will respond to the committee's consensus advice,
which they look forward to receiving. And, while NIOSH does
not do medical screening of workers (DOE does that), a NIOSH
screening specialist coordinates with DOE's work as able.
Finally, Mr. Elliott noted that the Energy Employees Occupational
Illness Comprehensive Program Act of 2000, to be described
further subsequently, was passed to compensate DOE workforces.
Its provisions include a NIOSH role in addressing future
compensation claims.
DOE, Oak
Ridge Operations Comments
Ms. Leah Dever, Manager of DOE's Oak Ridge Operations Office,
welcomed the members and also appreciated their time and
effort in this work. Having worked with previous FACA groups,
she could testify to ATSDR's serious reception of the public's
input, and the tailoring of work to public issues. She hoped
that all the communities' concerns can be evaluated and
addressed, to move forward to the future.
In DOE's missions, Oak Ridge is a microcosm of DOE work.
It conducts defense work at Y-12, refurbishing weapons to
replace in the stockpile; manufacturing; scientific work
at the Oak Ridge National Laboratory (ORNL - e.g., source
neutron work to be developed in next few years); environmental,
nuclear physics, etc., laboratory work; and cleanup work
(e.g., at K-25, now the East Tennessee Technology Park -
ETTP). Since it must be ensured that the work is done safely,
securely, and reliably, ATSDR's work is well aligned with
DOE's.
Ms. Dever expressed the DOE's support this Subcommittee's
work, whose diversity makes it DOE's "healthy eyes and ears"
to the community as a whole. She asked Mr. Tim Joseph to
be her designated representative to this committee.
She also acknowledged that past mistakes, mismanagement,
lack of good information to the community, etc., had contributed
to the decline of trust in DOE. For that reason, she welcomed
the independent nature of this study process. It enables
this committee to be open with each other and to further
inform DOE of the communities' perspectives. She pledged
that DOE will respond to the Subcommittee's communications.
She requested the opportunity to work together with its
members, and anticipated excellent results from this work.
DOE, Headquarters
Comments
Dr. Paul Seligman, Deputy Assistant Secretary for Health
Studies, Office of Environmental Safety and Health, explained
that his office conducts/monitors all programs and studies
pertaining to the weapons program. Among those are the studies
of Japanese A-bomb survivors and health effects studies
in the Marshall Islands and at Chernobyl. Domestically,
under interagency Memoranda of Understanding (MOU), their
largest program supports CDC and ATSDR studies of the impact
of weapons production upon surrounding communities and site
workers. They also support medical monitoring and surveillance
programs such as: 1) a pilot program to identify former
DOE workers with significant exposure and to screen them
for occupational illnesses. At Oak Ridge, the first 5-year
cycle is in completion, focusing on construction workers
at the Gaseous Diffusion Plant (GDP) and K-25. DOE is considering
extending this to all former DOE workers/sites. And 2) the
beryllium monitoring program of exposed Rocky Flats and
Y-12 workers was extended nationally two years ago to all
DOE facilities that used beryllium. Other programs collect
occupational surveillance data on current injuries/illness.
His introduced his office's program manager, Ms. Marsha
Lawn, who attended this meeting (telephone 301-903-3721;
e-mail at <marsha.lawn@eh.doe.gov>).
Dr. Seligman expressed his great expectations of this committee
to serve as a unified voice for the community, or at least
to help develop some consensus of what should be done.
Dr. Seligman then outlined the Energy Employees Occupational
Illness Comprehensive Program Act of 2000, distributing
a summary of the bill (Attachment #5) and a copy of the
President's related December 7th Executive Order.
The first major government entitlement program in decades,
this is a billion-dollar-plus program to compensate exposed
DOE workers. It was strongly supported by his Deputy Assistant
Secretary, Dr. Michaels, who has met with Oak Ridge residents.
The Act addresses three diseases (beryllium disease, radiation-induced
cancer, and silicosis), two groups of people (DOE workers
and contractors), and establishes one operational process.
It provides for 1) compensation of $100,000 for confirmed
beryllium disease (and medical care payment if sensitization
is determined); 2) $150,000 and medical monitoring for silicosis;
and 3) the compensation process for radiation-attributed
cancer, which is now being developed.
The covered groups include a special exposure cohort (GDP
employees, K-25, Portsmouth, Paducah, and Amchitka) who
worked for a year or more at sites with potential exposures,
and who wore dosimeters or should have been badged. Another
process will determine if other groups should be included.
In the second group, equal compensation is provided for
uranium miners and millers.
The DOE Office of Advocacy will work to counter DOE contractor
disputes of claims related to diseases not covered by the
Act. They also will assist former DOE employees to get state
compensation benefits through a physician panel to determine
if toxic DOE work-related exposures contributed to the disease
in question. This direct DOE/state process should ensure
smooth processing of those claims. The Department of Labor
will ultimately run the Claims program. The DHHS is charged
to develop guidelines and criteria to help identify radiation-related
cancer and to explore whether other groups can be included.
DOE will manage the assistance/advocacy program.
On January 11, 2001, the final set of amendments attached
to the Bill was submitted to Congress by the administration.
One significant addition provides an option for workers
to choose a more a traditional compensation package (i.e.,
lost wages and medical benefits, training, and rehabilitation),
rather than the lump sum payment. Whether Congress will
pass this or not is unknown, but the October 2000 original
legislation had bipartisan support, led by Senators Thomson
(TN) and McConnell (KY).
Discussion.
The Subcommittee thanked all these representatives
for attending. The following discussion included:
-
Without defined eligibility criteria, when will
people be able to file claims? Seligman: The filing
process is being set up. While the law is fairly specific
on eligibility criteria, work on radiation-induced cancer
and silica disease is underway, but people can call
in now to be included on their database.
-
What about workers' families who were exposed?
Seligman: The current legislation has no provisions
for spouses or dependents, although it does address
survivor benefits.
-
If this committee recommends activities ATSDR cannot
do, what is the likelihood they will be acted upon?
Falk: ATSDR hopes that the Subcommittee process can
at least leverage and facilitate a dialogue with other
appropriate agencies to ensure the communities' voices
are heard, and the Subcommittee's combined voice carries
more weight than that of individuals.
-
What local examples are there of the reversal of
the former DOE policy that encouraged its contractors
to oppose such claims? Seligman: A Field
Operations Directive was issued on the previous day
to formalize that reversal of DOE policy. And specifically,
his staff has a workers' compensation expert (Ms. Kate
Kipman) who works directly on the claims, and to date
has procured compensation for 20-30 individuals who
were already in the system. But every case is different.
Ms. Sonnenburg asked for a copy of the new policy, and
wished news like this would be headlined in the local
newspaper.
-
The lay public has trouble separating the issues
by on- or off-site and by the multiple agency mandates.
The ORRHES is primarily to address offsite issues, but
onsite questions need to be answered. To whom do we
refer these people? Elliott: NIOSH welcomes consensus
advice/recommendations to the NIOSH Director at any
time, about issues relating to workers, including interaction
between the Subcommittee and the agency. While NIOSH
would like to have a representative at every meeting,
resource limitations prevent that in addition to addressing
their prime constituency, workers. Dr. Davidson asked
NIOSH to try to allocate the resources needed to allow
attendance at every meeting, in order to answer the
questions sure to arise. Mr. Elliott agreed to convey
that to Acting NIOSH Director Dr. Larry Fine.
Seligman: DOE also hopes to always have someone present
at meetings who can call headquarters to seek the answer
needed. Mr. Tim Joseph had also providing the Subcommittee
with a description of DOE's programs and contact persons.
-
With the now-multiple (130) contractors at Oak
Ridge, as opposed to the previous single major contractor,
how can DOE ensure that safety and health is secure
at all facilities? For example, a recent avoidable accident
at Y-12 injured workers; and one at K-25 exposed (unaware)
workers to fluorine. Dever: About 550 federal employees
oversee the contractors' work. The Reservation has three
major contractors: BWXT (at Y-12), UT/Battelle (at ORNL),
and Bechtel/Jacobs (cleanup). While no one can be omnipresent,
a cadre of facility representatives are on site daily
to act as her "eyes and ears" and promote worker safety.
The site also is strongly promoting the contractors'
implementation of a fully integrated safety management
system, to plan work with universal understanding of
its hazards, to design safety features, and to arrange
feedback. The Reservation also has a zero accident philosophy
of doing everything safely, couched in the understanding
that accidents are preventable. The onsite safety statistics
show improvement, which she attributes to better safety
consciousness.
-
The TDEC monitoring program/sampling plan that
was to follow the Scarboro soil study is undone because
no interagency meeting has been scheduled. The credibility
of the soil study remains under a cloud; it should be
simple to validate a few samples. Mr. Joseph reported
the agencies' awaiting EPA's response. Mr. Stockwell
reported that Marina Redfield, of the Oak Ridge Energy
Remedial Section, is planning a February meeting around
President's Day, depending on DOE's availability to
attend. EPA, TDEC, and ATSDR also will be invited. No
completion date can be estimated until the agencies
meet. Dr. Davidson requested a progress report on this
meeting on sampling strategy.
-
Could Mr. Bill Murray, as a former NIOSH employee
and now with ATSDR, serve as an informal NIOSH representative?
Falk/Elliott: Mr. Murray certainly has the occupational
expertise, but the Subcommittee needs to deal directly
with those in the agencies currently working. The Agency
Coordinating Committee and Energy Oversight Committee
also meet quarterly enable an interagency dialogue.
Questions on NIOSH work or the compensation program
should be directed to Mr. Elliott; and NIOSH is certain
to request agenda .
-
EPA is the regulatory agency outside the fence,
but OSHA is inside, and they are not represented here.
Falk/Dever: DOE is the regulator inside the DOE
fence. OSHA takes over when, for example, a facility
is turned over to a community or private owner. Seligman:
Congress gave DOE that responsibility in the Atomic
Energy Act.
-
The timing of information released by the various
agencies working in this community is occasionally downright
odd. The absence of effective communication of past
efforts' results, their evaluation, and coordination,
continually confuses the community. How will you address
that? Falk: The Subcommittee can facilitate this
(e.g., the last discussion resulted in an action item
for the agencies to report back at the March meeting).
Seligman: Communicating study results has often been
ineffective in the past, and evaluation of that communication
must be improved. But since the agencies' work is done
on different schedules, timing the information releases
cannot always be controlled, although coordination can
be pursued.
-
What constitutes a "medically under-served" population?
Dr. Williams, Director of ATSDR's Division of Health
Assessment and Consultation, promised to provide the
DHHS definition.
-
Can the committee recommend, as done at Hanford,
on medical evaluations? Williams: Some medical
activities are DOE-related, rather than ATSDR's work.
Dever: DOE has received communications that it is high
time the other workers were addressed as are PACE members
and the construction trades. This is being taken seriously.
-
DOE's roles of management and worker safety are
opposing, leading to a credibility problem. To proactively
build trust, DOE should consult OSHA. Dever: External
versus internal regulation is a continuing source of
concern. OSHA only governs industrial safety side, and
the Reservation uses its rules, but the Nuclear Regulatory
Commission (NRC) governs nuclear safety. DOE has invited
OSHA to advise at some small pilot sites. The Defense
Nuclear Facility Safety Board also was created about
8 years ago to regularly to advise DOE on improvements.
Although they cannot fine DOE, their advice is strong
on nuclear issues, and is attended to by the agency.
-
Can NIOSH provide information on what it has accomplished
for workers with its research, nationwide but particularly
at Oak Ridge? And what is heard from the workers on
Worker Days that should also concern the ORRHES?
Elliott: I will provide that information, although
the latter may be somewhat restricted by security concerns.
Dr. Davidson thanked the agency representatives for attending,
and assured them that the Subcommittee would like them to
return, singly if not in a group.
Public
Comment
Ms. Janice Stokes submitted a letter (Attachment
#6) on her organization and its concerns about the Oak Ridge
area. She asked the committee to familiarize itself with
the offsite contamination that had occurred in the last
50 years. She recommended that the Subcommittee read the
1990 report that listed Oak Ridge's released chemicals,
and compare that to ATSDR's toxicological profiles. She
felt that the negative findings produced from public health
activities at the Oak Ridge Reservation were based on faulty
science, biased beliefs, and political influence. The ORNL's
own audit identified weakness in their industrial hygiene
records, exposure data and occupational history, the very
data on which the epidemiologists based their studies. The
bodies of many Oak Ridge residents who never worked onsite
have toxins that could only have come from the Reservation.
Research is needed on the synergistic, multiplicative, additive,
and concurrent effects of exposures. Diagnosis and treatment
is needed to address the results of toxic exposures in a
scientifically credible and rapid response mechanism. She
requested a multi-disciplinary team to develop recommendations
on such protocols. Finally, she asked Dr. Seligman about
the likelihood of a health clinic being opened in Oak Ridge.
Dr. Seligman reported DOE's plan, if able with the new
administration, to assemble an environmental workshop of
all those agencies and organizations who have worked on
Oak Ridge matters to combine information on offsite contamination.
If the community is ever to have compensation, remediation,
or benefits, the case must be made to Congress, and
he would be happy to do so. The Compensation Bill resulted
from the Secretary's strong support and DOE's strong case
that their sick workers required address.
Dr. Falk stated that, while ATSDR's mandate does not allow
medical treatment or the establishment of clinics, they
have been trying to act as a catalyst to the health care
delivery agencies to find services to address health care
needs. For example, to address the health issues related
to vermiculite mining in Libby, Montana, ATSDR invited DHHS
agencies (e.g., the Health Resources and Services Administration
- HRSA, and the Health Care Finance Administration - HCFA)
to a community meeting to explore those issues as related
to existing programs, and to encourage those agencies to
think "out of the box." Dr. Seligman added that the Congressional
Act that directed DOE to do medical monitoring of its workforce
led to the current worker program. Congress could do the
same to direct other agencies' work on site issues.
Dr. Davidson stated that some of Ms. Stokes' issues would
be discussed as the committee decided on its recommendations
to ATSDR (e.g., on the public health assessment). She hoped
to actively involve the community through their participation
on the ORRHES Work Groups that will recommend to the full
committee, as well as through the public comments at the
full ORRHES meetings and in private discussions with the
members.
Ms. Fannie Ball thanked the agency managers for
attending. She stated that, while she was proud of some
of the Subcommittee members, she could not say the same
of others. Without naming anyone, she related her grief
in the past to hear some members discount that there are
people sick from Oak Ridge effects. She asked, if they disbelieved
then, why they believed now. She credited Dr. Michaels for
listening to the community in his roundtable discussion,
and producing a real response. She hoped to be alive to
see the results of ATSDR's work. Finally, she stated her
wish to see the departure from this committee of the "Judases"
now on it. She hoped they would voluntarily resign; if not,
she swore to expose them.
With no further comment, the meeting adjourned at 6:20
p.m.
1. For example, under the
ATSDR cooperative agreement, the AOEC has investigated homes
and a school built on a former waste disposal site in New
Orleans, conducting clinical evaluations to document any
health outcomes. In Fort Valley, GA, they investigated skin
problems related to arsenic exposure from a former pesticide
manufacturing facility.
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