Archive for the ‘Initiatives’ Category

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Healthcare Without Harm

February 13, 2009

Thanks to Madhavi Sanghmitra Bhatia for creating and sending us her excellent podcast, “Gary Cohen talks about Healthcare Without Harm”:

http://www.traydio.com/UserConsole/ViewArticle.aspx?Title=Gary_Cohen_talks_about_Healthcare_Without_Harm&ArticleID=1922

It’s just over five-minutes long, and well worth the time.

Overview: Gary Cohen is a founder and Co-Executive Director of Health Care Without Harm and is also the Executive Director of the Environmental Health Fund, which works on domestic and global chemical safety issues. According to him, Health Care Without Harm’s mission is to transform the health care sector into one that actually respects the Hippocratic Oath. But what does the Hippocratic Oath mean in this day and age? What does it mean to do no harm? Increasingly it’s clear that in order to prevent diseases in the general public, we need to understand the environmental links to those diseases and do whatever we can to reduce environmental exposures and move to a model of a high-performance healing environment – an environment that actually promotes healing, as opposed to contributing to further disease or exposure or infection.

For more of Madhavi Bhatia’s work, go here:

http://www.traydio.com/UserConsole/Portfolio.aspx?Username=madhavisb&UserID=12

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“Our children will accuse us”

February 9, 2009

[And you bet your sweet ass they will, if we don't do something.]

Salud ambiental: “Nuestros hijos nos acusarán” /Santé ambiental: Film “Nos enfants nous accuseront”

Acaba de lanzarse la película francesa sobre la salud ambiental, “Nos Enfants nous accuseront”, sobre el impacto sobre la salud, especialmente sobre los niños, de los tóxicos de las industrias.
The French film, “Our children will accuse us” has just been launched. It is about the impact on children’s health of the toxics from industry and farming.
El trailer y más información sobre la pelicula:
The film short and more info on the film:
sortie du film : “Nos enfants nous accuseront”
Urgent :
Pour que ce film qui dénonce les méfaits de la mauvaise alimentation et des pesticides, réalisé par un français, soit diffusé dans le plus grand nombre de salle il faut qu’un maximum de personnes regarde la bande-annonce dans les 3 jours à venir.
Alors visionnez la bande annonce, pour vos enfants et ceux à venir!
Cliquez sur le lien ci-dessous puis sur la bande annonce, et regardez, pas pour avoir peur, mais pour réagir et protéger.
Regardez au moins le début… la conférence à Paris lorsque les gens lèvent la main.

http://www.nosenfantsnousaccuseront-lefilm.com/

Faites passer, c’est sérieux. Même si vous ne visionnez pas complètement, c’est le nombre de visites dans les 3 joursqui fera son poids… Le voir est encore mieux. Faites suivre à tous vos contacts !

MERCI

Bonne journée quand même…

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Harder to regulate toxics: a final gift from the Bush administration

February 9, 2009
Comment:

If you have any doubt that chemical pollution and the historical systemic failure to regulate it is an issue that’s all about money and politics, read this. The evidence about the harms of major industrial chemicals has been pouring in, a literal cascade of damning information in the last few years. All credible scientific experts are calling for entirely new approaches to risk assessment, approaches that address the evidence of the harms of “micro doses” and that embody the Precautionary Principle. This approach is being implemented by the European Union, and we must have it to safeguard our health. And yet, in the dying days of the Bush administration, they tried to go the other way. If you are an American reading this posting, please contact your federal representatives and let them know how much you oppose this measure.


Bush Aides Rush to Enact a Safety Rule Obama Opposes

By ROBERT PEAR
November 30, 2008

http://www.nytimes.com/2008/11/30/washington/30labor.html?_r=1&ref=todayspaper

WASHINGTON — The Labor Department is racing to complete a new rule, strenuously opposed by President-elect Barack Obama, that would make it much harder for the government to regulate toxic substances and hazardous chemicals to which workers are exposed on the job.

The rule, which has strong support from business groups, says that in assessing the risk from a particular substance, federal agencies should gather and analyze “industry-by-industry evidence” of employees’ exposure to it during their working lives. The proposal would, in many cases, add a step to the lengthy process of developing standards to protect workers’ health.

Public health officials and labor unions said the rule would delay needed protections for workers, resulting in additional deaths and illnesses.

With the economy tumbling and American troops fighting in Iraq and Afghanistan, President Bush has promised to cooperate with Mr. Obama to make the transition “as smooth as possible.” But that has not stopped his administration from trying, in its final days, to cement in place a diverse array of new regulations.

The Labor Department proposal is one of about 20 highly contentious rules the Bush administration is planning to issue in its final weeks. The rules deal with issues as diverse as abortion, auto safety and the environment.

One rule would make it easier to build power plants near national parks and wilderness areas. Another would reduce the role of federal wildlife scientists in deciding whether dams, highways and other projects pose a threat to endangered species.

Mr. Obama and his advisers have already signaled their wariness of last-minute efforts by the Bush administration to embed its policies into the Code of Federal Regulations, a collection of rules having the force of law. The advisers have also said that Mr. Obama plans to look at a number of executive orders issued by Mr. Bush.

A new president can unilaterally reverse executive orders issued by his predecessors, as Mr. Bush and President Bill Clinton did in selected cases. But it is much more difficult for a new president to revoke or alter final regulations put in place by a predecessor. A new administration must solicit public comment and supply “a reasoned analysis” for such changes, as if it were issuing a new rule, the Supreme Court has said.

As a senator and a presidential candidate, Mr. Obama sharply criticized the regulation of workplace hazards by the Bush administration.

In September, Mr. Obama and four other senators introduced a bill that would prohibit the Labor Department from issuing the rule it is now rushing to complete. He also signed a letter urging the department to scrap the proposal, saying it would “create serious obstacles to protecting workers from health hazards on the job.”

Administration officials said such concerns were based on a misunderstanding of the proposal.

“This proposal does not affect the substance or methodology of risk assessments, and it does not weaken any health standard,” said Leon R. Sequeira, the assistant secretary of labor for policy. The proposal, Mr. Sequeira said, would allow the department to “cast a wide net for the best available data before proposing a health standard.”

The Labor Department regulates occupational health hazards posed by a wide variety of substances like asbestos, benzene, cotton dust, formaldehyde, lead, vinyl chloride and blood-borne pathogens, including the virus that causes AIDS.

The department is constantly considering whether to take steps to protect workers against hazardous substances. Currently, it is assessing substances like silica, beryllium and diacetyl, a chemical that adds the buttery flavor to some types of microwave popcorn.

The proposal applies to two agencies in the Labor Department, the Occupational Safety and Health Administration and the Mine Safety and Health Administration.

Under the proposal, they would have to publish “advance notice of proposed rule-making,” soliciting public comment on studies, scientific information and data to be used in drafting a new rule. In some cases, OSHA has done that, but it is not required to do so.

The Bush administration and business groups said the rule would codify “best practices,” ensuring that health standards were based on the best available data and scientific information.

Randel K. Johnson, a vice president of the United States Chamber of Commerce, said his group “unequivocally supports” the proposal because it would give the public a better opportunity to comment on the science and data used by the government.

After a regulation is drafted and formally proposed, Mr. Johnson said, it is “all but impossible” to get OSHA to make significant changes.

“Risk assessment drives the entire process of regulation,” he said, and “courts almost always defer” to the agency’s assessments.

But critics say the additional step does nothing to protect workers.

“This rule is being pushed through by an administration that, for the last seven and a half years, has failed to set any new OSHA health rules to protect workers, except for one issued pursuant to a court order,” said Margaret M. Seminario, director of occupational safety and health for the A.F.L.-C.I.O.

Now, Ms. Seminario said, “the administration is rushing to lock in place requirements that would make it more difficult for the next administration to protect workers.”

She said the proposal could add two years to a rule-making process that often took eight years or more.

Representative George Miller, a California Democrat who is chairman of the House Committee on Education and Labor, said the proposal would “weaken future workplace safety regulations and slow their adoption.”

The proposal says that risk assessments should include industry-by-industry data on exposure to workplace substances. Administration officials acknowledged that such data did not always exist.

In their letter, Mr. Obama and other lawmakers said the Labor Department, instead of tinkering with risk-assessment procedures, should issue standards to protect workers against known hazards like silica and beryllium. The government has been working on a silica standard since 1997 and has listed it as a priority since 2002.

The timing of the proposal appears to violate a memorandum issued in early May by Joshua B. Bolten, the White House chief of staff.

“Except in extraordinary circumstances,” Mr. Bolten wrote, “regulations to be finalized in this administration should be proposed no later than June 1, 2008, and final regulations should be issued no later than Nov. 1, 2008.”

The Labor Department has not cited any extraordinary circumstances for its proposal, which was published in the Federal Register on Aug. 29. Administration officials confirmed last week that the proposal was still on their regulatory agenda.

The Labor Department said the proposal affected “only internal agency procedures” for developing health standards. It cited one source of authority for the proposal: a general “housekeeping statute” that allows the head of a department to prescribe rules for the performance of its business.

The statute is derived from a law passed in 1789 to help George Washington get the government up and running.

The Labor Department rule is among many that federal agencies are poised to issue before Mr. Bush turns over the White House to Mr. Obama.

One rule would allow coal companies to dump rock and dirt from mountaintop mining operations into nearby streams and valleys. Another, issued last week by the Health and Human Services Department, gives states sweeping authority to charge higher co-payments for doctor’s visits, hospital care and prescription drugs provided to low-income people under Medicaid. The department is working on another rule to protect health care workers who refuse to perform abortions or other procedures on religious or moral grounds.

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Toxic Chemical Regulatory Reform: U.S.

February 8, 2009

LETTER OF PRINCIPLES FOR TOXIC CHEMICAL REGULATORY REFORM

To the Obama transition government

Dear President-Elect Obama,

Congratulations on your victory in the election for president of the
United States. We look forward to the positive changes you plan on
making, and send you this letter to offer our support in that
endeavor, especially for the urgently needed reform of our chemical
regulatory policy.

Recent reports about industry influence and possible interference with
our chemical regulatory policy on chemicals at the FDA, EPA and other
agencies threaten the confidence of all consumers about American
products, and about our government’s role in protecting health. As we
are sure you know, storms of controversy over chemicals in everything
from shower curtains and lipstick, to baby bottles, infant formula,
canned food, cars, toys and even pet food have increasingly unnerved
parents and anyone concerned about public health.

Though its effects may not be as obvious, the deregulation of the
chemical industry has hurt the United States just as much as the
deregulation of Wall Street, with effects likely to last generations.
Scientists, physicians, health advocates, worker organizations, parent
groups, health-affected groups and many others view fundamental reform
to current chemical laws as urgent and necessary to protect children,
workers, communities, and the environment now and in the future.

The economic costs of current levels of chemical contamination are
often hidden, though they contribute significantly to reduced worker
productivity, increased hospital costs, more expensive health
insurance, and greater burdens on businesses for hazardous waste
storage, disposal, and clean-up fees. Uncounted in the conventional
cost-benefit analysis of our chemical regulatory policies is the price
we pay for children with developmental disabilities or the toll on
families with chemical exposure-linked illness, not to mention eco-
system impacts, made worse by global warming.

Mounting scientific studies link chemical exposure to human illness
and unnecessary disabilities and chronic conditions. The most
vulnerable include children, women, and communities of color and those
already stressed by depressed economic conditions and diminished
access to health care and information. Spikes in rates of illness
linked to chemical exposure include: obesity, diabetes, thyroid
disease, childhood cancers, breast cancer, prostate cancer, heart
disease, asthma, neurodevelopmental problems, learning disabilities in
children that persist throughout life and other effects. Although
chemical exposure knows no boundaries, communities of color located
around chemical manufacturing areas and whose geographic location
receives chemical drift from applications elsewhere are at particular
risk.

Tragically, these preventable illnesses and health effects linked to
chemical exposure are on the rise, and the effects of some chemical
exposure effects can last for generations. Scientists, physicians,
health advocates, worker organizations, parent groups, health-affected
groups and many others view fundamental reform to current chemical
laws as urgent and necessary to protect children, workers,
communities, and the environment now and in the future.

People all over the United States, including Mossville, Louisiana,
Glynn County, Georgia, Dixon, Tennessee, Port Arthur and Corpus
Christie, Texas, agricultural communities in California, North
Carolina, Washington, and Florida and elsewhere are suffering from
chemical contamination. Arctic Indigenous communities are among the
most highly exposed populations in the world. The Arctic has become a
hemispheric sink for long-lasting chemical contaminants that travel
long distances on oceanic and atmospheric currents. These chemicals
accumulate up the food chain in fish, wildlife and peoples of the
north.

Harm from chemical exposure from U.S. based and other chemical
corporations is not limited to the U.S. Despite efforts by the
international community to identify the most dangerous chemicals and
phase them out, the U.S. government has obstructed this movement and
has lost credibility with an international community suffering from
the health effects of insidious chemical exposure caused,
significantly, by U.S. corporations and their foreign allies. Ongoing
efforts of the U.S. government to impede and obstruct major
international policy advances such as the Stockholm Treaty and REACH
have had serious economic and political consequences.

The opportunity to eliminate toxic chemical exposure and build a new
green economy that supports clean production of safe consumer goods is
now at hand. By designing new, safer chemicals, products, and green
production systems, American businesses will protect people’s health
and create healthy, sustainable jobs, and enhance our ability to
compete in the international marketplace. Some leading companies are
already on this path and the workers and neighboring communities
benefit. They are creating safe products and new, green jobs by using
clean, innovative technologies that benefit public health, the
environment and the bottom line. But transforming entire markets will
require policy change.

Please consider these five steps to improve the health and well being
of Americans, to protect future generations, promote industry
innovation and technological superiority in designing safer chemicals,
products and manufacturing processes, reduce our dependence on foreign
oil, and reward businesses that protect workers and lead the way to a
new, green energy economy that will benefit all Americans.

1. Hire and Gather the Best and the Brightest for your Toxics
Regulatory Team

* Deploy thoughtful leaders on: chemical exposure and environmental
health, scientific and common sense solutions to the toxic chemical
contamination problem, innovations in business and industry with Green
Chemistry development, and other innovative thinkers to advise the
administration on toxic chemical exposure as a variable in all
domestic and foreign policy as well as on new appointments to agencies
and departments relevant to environmental health. One example would be
forming a task force on chemical regulatory reform or some other
multi-stakeholder process to help expedite immediate action. These
innovative thinkers should advise the administration on toxic chemical
exposure as a variable in all domestic and foreign policy as well as
on new appointments to agencies and departments relevant to
environmental health and have no financial conflicts of interest. It
will be important for this group to see the interconnectivity of
issues inherent to a healthy and prosperous future.

* Set a public interest research agenda that coordinates green
chemistry with green energy and green engineering technologies being
developed and supported.

* The administration should adopt the position that the right to a
clean and healthy environment is an inalienable right that will be
protected by the courts.

2. U.S. Chemicals Policy Must Adhere to Principles and Guidelines for Ethical Chemical Regulatory Reform

* U.S. residents and all peoples have a fundamental right to
protection from exposure to toxic substances, including from chemicals
and nuclear radiation, in our environment and our bodies. The purpose
of the U.S. chemicals regulatory policy must be to protect us from
these exposures, while preventing the export of toxic substances that
could harm other countries.

* U.S. chemical regulatory policy must understand and implement the
Precautionary Principle so that we may finally join the modern
chemical policies of other countries around the world. The
Precautionary Principle forms the foundation of the European Union’s
REACH law on chemicals and international treaties such as the
Stockholm Convention. This foundation for U.S. chemical policy
mandates adequate scientific evidence that will help to insure that a
substance is safe before it is allowed to be introduced in the
marketplace.

* U.S. chemical regulatory policy must provide remedies for the
injustice of unequal environmental protection based on race that has
exposed communities of color to significant levels of toxic pollution.
Such remedies must include a legal standard that requires a safe
distance between a residential population and a chemical facility and
a private right of action against a federal, state, or local
regulatory agency whose decision or action results in a racially
disproportionate pollution burden.

* In addition to aligning with REACH, U.S. chemical regulatory policy
must regain U.S. leadership by respecting the intentions of
international agreements, including Strategic Approach to
International Chemicals Management (SAICM), the Stockholm Convention,
Rotterdam Convention, Basel Convention, the Montreal Protocol, and a
new global free standing legally binding agreement on mercury and
other similar substances of concern.

3. Revamp the Chemical Evaluation Process

* A gross lack of knowledge currently exists in the U.S. about the
data on chemical substances produced, imported, exported, and used in
the U.S. This serious data deficiency demands immediate adoption of a
comprehensive process of identifying and assessing critical
information for all substances before they can be produced, marketed
or allowed for continued use. Of utmost priority art chemicals that
are suspected of being mutagens, carcinogens, reproductive or
neurodevelopmental toxicants, endocrine disruptors, and persistent
bioaccumulative and toxic chemicals. Examples include: phthalates,
bisphenol A, perflourinated chemicals, endosulfan, lindane,
perchlorate, methyl bromide, methyl iodide, organophosphates, dioxins,
furans, and brominated and chlorinated flame-retardants, and non-
persistent chemicals, such as benzene, which may be difficult to
detect.

* Evaluation of the chemicals must be on the basis of their inherent
hazards and toxicity, including threats of harm to workers who make
them, the communities where they are made, the communities where the
chemicals and chemical-induced products are used, disposed or
destroyed, and where there is danger for impacting the health of the
general public, now and in the future, as in the case of neurotoxins
and many carcinogens, which can take years to trigger or manifest
effects.

* Chemical evaluation processes also must be based on complete
transparency and mandated data collection from the corporations that
make the chemicals, removing “business security” shields from
manufacturers of suspected dangerous substances. Health and safety
information should not be considered confidential business information
and a “No Data, No Market” rule should be implemented and enforced.

* Suspected materials must be phased out more rapidly where safer
substitutes are already available.

* No U.S. government agency should be allowed to shield chemical
corporations from being mandated to provide information under the
guise of “national security,” in regard to chemical production
facilities or transportation of these chemicals.

* Evaluation of chemicals must be conducted by U.S. government
scientists and academic colleagues in a manner that that upholds the
integrity of the evaluation, with public financial support as well as
political support for independent research and protection for speaking
freely about their findings. Scientists must be expected to report
unbiased results, free from political and industry-driven influences,
with all findings subject to fully transparent, independent peer
review. Scientists must have support and protections to be able to
conduct independent scientific study and speak freely about their
findings — the “gag order” on U.S. federal scientists must be removed
immediately.

* Immediate action to pursue permanent Chemical Security legislation
that would require thousands of facilities, including all water
treatment plants to require the use of safer chemical alternatives and
processes. Millions of people inside the U.S. are at risk if an
unintentional or intentional (terrorist attacks) industrial chemical
accident were to occur. The framework required includes improving
standards for review of safer and more secure alternatives, worker
involvement, and crucial government accountability. One immediate
concern is the need for a structured review of federal facilities that
pose the danger of an off-site chemical emergency release. The
standards for these reviews must be focused on “alternatives
assessment” rather than “risk assessment.”

4. Reform “Stakeholder” Influence in Decision-Making

* U.S. chemical policy regulators, including non-scientist appointees
and staff members, must be completely free of ties to the chemical
industry or other entities that would attempt to influence their
decisions or impact the integrity of chemical evaluations. Regulators
may consult with the chemical industry, but we need a change from what
has become a conventional U.S. process in which the chemical industry
dictates chemical regulatory policy and writes relevant legislation.
The preferred “stakeholders” in this process must be the people of the
United States, not the chemical corporations.

* The people of the United States need to have access and the ability
to participate in the chemical evaluation process, which requires
resources for capacity building and access to expertise to represent
their interests.

* The Toxic Release Inventory rule and other tools for industry
transparency?must be strengthened, and the public’s right to know
chemical data should be guaranteed. There must be Executive and
legislative support for mandating complete transparency for all data
regarding chemical exposure in communities, including pesticide use
data.

* Toxic chemical exposure must also be considered an Environmental
Justice issue, and previously ignored and disenfranchised communities
of color and of modest economic standing must be brought into the
process of identifying vulnerable populations and implementing
culturally respectful policies for empowerment to become safe from
chemical exposure. This can only be accomplished through dedicated
resources for capacity building at the community level.

* Resources must be immediately directed toward environmental
monitoring of air, water, and soil where chemical exposure is
suspected in order to prevent, not just manage, exposure to workers
and communities.

* When toxic chemical exposure is identified, immediate action and
resources must be available to halt the exposure and protect
communities, especially children, honoring the cultural integrities of
each community.

* Assessment of toxic chemical exposures must be an immediate mandated
component of all relief efforts for communities in times of disaster,
with protection mitigations in place to prevent additional and new
exposures (as in the example of the FEMA trailers) compounding
existing tragedy.

5. Create Economic Strength and Strategy Via Toxic Chemical Exposure Protections

* A program of incentives must be developed to support the efforts of
chemical corporations, the auto and oil industries, and other relevant
industries to develop less harmful substitutions for their products.
No new products should be allowed into the marketplace without
adequate scientific study on health effects. The responsibility must
be on the producer to demonstrate no harm. Regulatory and financial
barriers for companies seeking to develop and use less toxic products,
move away from reliance on petrochemicals, and reduce resource
depletion in production, including use of water, should be addressed,
and incentives provided for those corporations that demonstrate
significant progress insuring that their workers, communities, and
customers are protected.

* “Polluter pays,” reverse onus, and other precautionary policies, in
addition to the Rio Principles should be adopted as a foundation for
U.S. environmental protections and for restoring confidence in U.S.
corporations, their standing in the community, and the products they
make. Re-establish support and enforcement of Superfund policies.

* Support programs for farmers to transition to safer, less toxic
means of food production must be instituted.

* Integrate Toxic Chemical Exposure Issues Throughout U.S. Government
Agencies and Policies

* EPA must partner with the Centers for Disease Control and immediate
resources need to be made available for biomonitoring and public
health surveys of communities where chemical exposure impact is
suspected. Monitoring should also include biota and human tissue
contamination with the intention of tracing the sources of
contamination. These agencies must develop and use a protocol for the
evaluation of chemical exposure impact that is based on the
Precautionary Principle

* Intentional dosing of human beings, especially children, with
pesticides and other known toxic chemicals in experiments is unethical
and must be prohibited.

* Chemical contamination knows no political boundaries. Testing of
imported foods and other products for chemical contamination must be
reinstated.

* The U.S. government must make it illegal for U.S. corporations to
dump toxic waste or sell banned or restricted products outside of the
country. U.S. corporations must be accountable and responsible for
harm that befalls communities at home and overseas from chemical
exposure caused by these corporations chemical manufacture, use
(including in consumer products), and disposal. The U.S. must become a
party to the Basel Treaty and uphold its principles.

* The U.S. government must define toxic substance hazard as a variable
in all international trade, human rights, and other agreements and
encourage and support other nations to reduce and eliminate toxic
substance exposure.

* Toxic chemical exposure must be taken into account for all U.S.
policies, including stimulus for the economy,?job creation, the
transition away from petrochemical fuels, education, and other urgent
changes in U.S. economic and social enterprises.

* A timeline must be set for putting a modern chemical regulatory
process and policy in place; time is of the essence with the health of
hundreds of millions of people at stake.

Thank you.

The undersigned groups are eager to assist with designing and building
support for transformational change to the U.S. chemical regulatory
system and offer our recommendations as enthusiastic partners of the
President-Elect’s new administration to achieve necessary and timely
change.

Sincerely,

Laura Abulafia, MHS, Director, Environmental Health Initiative,
American Association on Intellectual and Developmental Disabilities
(Formerly AAMR)

Martha Dina Arguello, Executive Director, Physicians for Social
Responsibility

Ruth Berlin, LCSW-C, Executive Director, Maryland Pesticide Network

Joan Blades, President and Co-founder, MomsRising.org

Arlene Blum, Executive Director, Green Science Policy Institute

Lin Kaatz Chary, Great Lakes Green Chemistry Network

Elizabeth Crowe, Director, Kentucky Environmental Foundation

Kathleen Curtis, Policy Director, Clean New York

Carol Dansereau, Executive Director, Farm Worker Pesticide Project,
Washington

Joe DiGangi, International Pops Elimination Network

Tracey Easthope, Environmental Health Director, Michigan Ecology
Center

Jay Feldman, Executive Director, Beyond Pesticides

Christopher Gavigan, CEO, Healthy Child, Healthy World

Lois Gibbs, Executive Director, Center for Health, Environment and
Justice

Dori Gilels, Executive Director, Women’s Voices for the Earth

Kathryn Gilje, Executive Director, Pesticide Action Network North
America

Monique Harden, Co-director and attorney, Advocates for Environmental
Human Rights

Amanda Hawes, attorney

Rick Hind, Legislative Director, Greenpeace

Dr. J. William Hirzy, Vice-President NTEU Chapter 280 (EPA HQ
Professionals Union), and Chemist in Residence, American University

John Kepner, Project Director, Beyond Pesticides

Bettie D. Kettell, RN Durham, Maine

Elise Miller, MEd, Executive Director, Institute for Children’s
Environmental Health

Pam Miller, Biologist and Director of Alaska Community Action on
Toxics

Mark A. Mitchell, MD, MPH, President, Connecticut Coalition for
Environmental Justice

Peter Montague, PhD, Environmental Research Foundation

Suzanne Murphy, Executive Director, Worksafe

Janet Nudelman, Director of Program and Policy Breast Cancer Fund

Judith Robinson, Director of Programs, Environmental Health Fund

Mike Schade, PVC Campaign Coordinator, The Center for Health,
Environment and Justice (CHEJ)

Ted Shettler, MD, MPH, Science and Environmental Health Network

Lynn Thorp, National Campaigns Campaigns Coordinator, Clean Water
Action

Laurie Valeriano, Policy Director, Washington Toxics Coalition

Nathalie Walker, Co-director and attorney, Advocates for Environmental
Human Rights

Kristen Welker-Hood, ScD MSN RN, Director, Environment and Health
Programs, Physicians for Social Responsibility

Charlotte Wells, Galveston BAYKEEPER, Texas

Resources

Contaminated without Consent www.contaminatedwithoutconsent.org

Is It In Us? isitinus.org/

The Louisville Charter www.louisvillecharter.org

Principles of Environmental Justice

ej4all.org/environmental.principles.php

http://www.ejnet.org/ej/principles.html

Scientific Consensus Statement on Environmental Agents Associated with
Neurodevelopmental Disorders Developed by the Collaborative on Health
and the Environment’s Learning and Developmental Disabilities
Initiative February 20, 2008 (revised July 1, 2008)
www.iceh.org/pdfs/LDDI/LDDIPolicyStatement.pdf

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Greening Hospitals for Better Health

February 8, 2009

Quote: “While we are trying to treat or cure illness and disease…we expose our staff and patients to irritants and carcinogens, and our treatments often contribute to the development of other diseases.”

Making Hospitals Greener — and Patients Healthier

http://www.time.com/time/health/article/0,8599,1867002,00.html?iid=tsmodule

A doctor’s principle code is, “First, do no harm.” The irony is that your doctor’s office or hospital may be making you sicker. Indeed, many hospitals are built with materials, like particleboard, PVC flooring and even conventional paint, that can leach poisonous substances. What’s more, the chemicals used to clean hospitals — chlorine, laundry detergents and softeners, ammonia — contain toxic ingredients and can cause respiratory disease. In fact, studies suggest that nurses, who spend long hours at the hospital, have among the highest rates of environmentally induced asthma of any profession.

In the typical hospital, “while we are trying to treat or cure illness and disease…we expose our staff and patients to irritants and carcinogens, and our treatments often contribute to the development of other diseases,” says Dr. Kristin Bradford, a family physician in Willits, Calif.

Enter “green medicine” — the effort to detoxify the healing environment and enhance patients’ and employees’ health, while reducing costs all around. The international advocacy group Health Care Without Harm (HCWH) — whose 2006 study of 1,200 nurses suggested a link between the hospital environmental and health problems among the staff — has been a pioneer in the movement, recently initiating collaborative research among major U.S. health systems to document how removing toxins from the environment impacts worker safety and lost time due to employee illness.

It was HCWH, for example, that in the mid-1990s got U.S. hospitals to stop using thermometers containing mercury, a potent neurotoxin associated with health problems, such as respiratory, kidney and gastrointestinal disorders, as well as interruption of fetal development (which occurs when pregnant women consume too much mercury, usually through fish). Today most hospitals have swapped out their mercury-based measuring devices — including sphygmanometers, which are used to measure blood pressure and contain more mercury than thermometers — for safer alternatives.

The problem with mercury is, of course, that it can escape — think how easy it is to break a thermometer. The vast majority of health-care-related mercury emissions, however, happen outside hospital walls. “When we started HCWH, in 1996, medical-waste incinerators [generated] 10% of all mercury air emissions as well as being a major source of mercury water emissions,” says Gary Cohen, a co-founder and co-executive director of HCWH.

In 1997, the last year for which data is available, according to the EPA, the health-care sector was the country’s fourth largest source of mercury emissions, and mercury fever thermometers alone accounted for about 17 tons of mercury deposited yearly in solid waste landfills. Despite the lack of hard data, industry watchers estimate that the phase-out of mercury-based instruments has greatly reduced that burden.

Over the same time period, hospitals began eliminating their incinerators altogether, reducing one of the toxic byproducts of burning waste: dioxins. Says Gary Cohen: “In 1996 there were 4,200 medical incinerators in the country. Now there are 83.”

Cohen says that the HCWH is now also urging hospitals to replace their ubiquitous PVC (vinyl) flooring with rubber floors. PVC can emit toxins such as dioxin and phthalates, particularly when wet, which studies suggest may affect reproductive health and fetal development, and may also trigger asthma. “Hospitals change to rubber flooring because of the toxic emissions,” says Cohen, “As it turns out, switching to rubber actually cuts down on noise and reduces slips and falls, which are also a threat to patient and worker safety.”

The investment in new flooring, says Cohen, also saves hospitals money, if one considers the costs over the entire life cycle of a produc. Although PVC flooring is cheap to buy, it ends up costing more later; its tendency to become brittle requires frequent maintenance or replacement. The environmental costs are high as well. With PVC flooring, “the manufacturing process creates dioxin. In the end, it is burned, releasing additional dioxin. In between, there’s the [emission] of phthalates,” says Cohen, noting that PVC is found throughout the hospital, not only in flooring, but also in shower curtains, blood bags and intravenous tubing. “If you can have a safer IV system without exposing patients to toxic substances, especially pregnant women and babies in the neonatal intensive care unit, then hospitals have a responsibility to replace PVC with safer alternatives.” Fortunately, safer alternatives exist and may cost as much or less as PVC products.

Hospitals have also managed to save money by greening their cleaning supplies. The Hackensack University Medical Center’s pediatric oncology center in New Jersey swapped its toxic-chemical-laden cleaners for its own custom-made natural products, dropping cleaning costs by 15% — and, more important, minimizing employees’ and young patients’ exposure to irritants and harsh substances, such as ammonia. The hospital has also developed a “Greening the Cleaning” program for other hospitals, schools and organizations and, more recently, even began selling a consumer product line that includes laundry detergent and glass cleaner.

The idea of greener — and cheaper — health is catching on fast among health-care CEOs. Some 150 registered health-care industry construction projects currently underway — involving about 30 million sq. ft. of new building space — have pledged to adopt the Green Guide for Health Care (GGHC), a sustainable design toolkit developed in part by HCWH, which helps the health-care sector construct healthier buildings from the start, according to Cohen. For example, the guide suggests ways to maintain indoor air quality, as indoor pollution can cause or aggravate many health conditions and threaten the well-being of patients with compromised immune systems.

But much can be done without building anew, and although support at the executive level is crucial, the impetus for change can come from any member of the staff. At the Community Hospital of the Monterey Peninsula in Calif., for instance, Joy Colangelo, an occupational therapist, helped launch the “Green Team” about six months ago. The team’s first task was to do a “waste audit” in order to tally unnecessary expenditures, says Colangelo. She found that the hospital’s heart department was churning out 20 pages of patient-identification labels per patient, but using only six.

Beyond cutting down waste, says Colangelo, the hospital also attempts to wield the “power of aesthetics to heal,” with musical performances, a koi pond filled with 70 koi in the atrium, a “healing garden” and a nursing floor that wraps around a waterfall and patio. All patient rooms also have large windows that provide views of nature and lots of natural light — which cuts electricity costs and is associated with high staff morale and better patient outcomes. “Our green efforts are done under the premise that we have two patients, the environment and the ill patient,” says Colangelo, “and the ill patient can’t get well without improving our environment.”

…added info…

Health Care Without Harm
http://www.noharm.org/us/pesticidesCleaners/issue
http://www.noharm.org/us/pesticidesCleaners/Fragrances

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Chemical Sensitivity Now a Physical Illness in Germany

February 8, 2009

Merry Christmas for MCS patients

From
Silvia Mueller writes on Christmas Eve:

Here is the best message. The German Government Department for Social is the main department for disability. The Ministerium für Arbeit und Soziales. There are guidelines which are used by doctors, courts, authorities,… when it comes to a disability. In our disability guidelines MCS is a physical disease. It is registered in the part for movement disorders, because we can’t go everywhere, etc. There was one sentence in this guideline which was disturbing and used by opposition to refuse our cases and say we are psychosomatic cases. It said MCS is a somatoform disorder.

One of my people at CSN wrote to the department and asked that this nasty sentence is removed from the guidelines. Now MCS is a physical disease nothing else.  We have also the ICD-10 which says MCS is a physical disease. With these two tools nobody can discriminate us anymore.

It’s a victory – It’s Christmas for chemically sensitive people over here. We gave this information and the government letter as a present to the CS people today. After we started an online party. The motto of the party is that we think also about  those who have nobody and we write poems, place links to you tube videos, write fun, greetings,… If you like to send something I can place it in for you, the people will love it.

http://www.csn-deutschland.de/blog/2008/12/24/willkommen-zur-csn-christmas-party-2008/

Dr. Rea and nobody else should worry. They can’t stop chemical sensitivity or declare us nuts anymore. We call it “the train is gone”.

It happened too much, and the bonds between people all over the world are too strong. Doctors find out more and more. And we all will not stop talking about it.  They can’t quiet us anymore.