United States Environmental Protection Agency's Perfluorooctanoic Acid, Perfluorooctane Sulfonic Acid, and Related Per- and Polyfluoroalkyl Substances 2024 Drinking Water Maximum Contaminant Level: Part 2 - Fifteen Misconceptions About the Health Hazards.

IF 4.1 2区 医学 Q1 TOXICOLOGY
Critical Reviews in Toxicology Pub Date : 2025-01-01 Epub Date: 2025-05-20 DOI:10.1080/10408444.2024.2446453
Dennis Paustenbach, Kylie McCauley, Jacob Siracusa, Sarah Smallets, David Brew, Michael Stevens, Blake Deckard, My Hua
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引用次数: 0

Abstract

This paper examines widely held beliefs about the six per- and polyfluoroalkyl substances (PFAS) addressed in the final U.S. Environmental Protection Agency's (EPA) rule on PFAS in drinking water (e.g., the Maximum Contaminant Levels - MCLs). Based on our understanding of the scientific literature and the comments submitted by stakeholders regarding the EPA's regulation that was promulgated in April 2024, we identified 15 misconceptions that had a weak scientific foundation. These are now memoralized in the MCLs for the six PFAS but remain debated due to ongoing ambiguous research findings. Many critics of the MCLs found the EPA's systematic review of the published relevant information, particularly the toxicology of perfluorooctanoic acid (PFOA) and perfluorooctane sulfonate (PFOS), to be inadequate. The following seven views are among the most important. First, the EPA asserted that the toxicology of these six chemicals was poorly understood and lacked sufficient data to determine a safe daily intake level for chronic health effects; nonetheless, they promulgated what may be the costliest environmental regulation to date. Notably, adverse effects remain difficult to demonstrate in occupationally exposed individuals even at blood concentrations 50-100 times higher than current background PFAS levels. Second, the Agency indicated that the epidemiology data showed that exposure to PFOA and PFOS caused kidney and potentially other cancers, yet the data were equivocal and do not support that assertion. Third, it was stated that specific non-cancer effects, such as heart disease, would be prevented under the promulgated rule; however, the studies that they relied upon do not show an increased incidence of heart disease even in highly exposed populations. Fourth, the Agency relied on animal data to support its views on the likely toxic effects in humans, despite ample toxicology data that animals, particularly rodents, are poor predictors of the human response to PFAS exposures. Fifth, the EPA predicted a reduction in healthcare expenditures that would offset much of the cost of complying with the MCL, but, they did not have adequate data to support this prediction. Sixth, the EPA suggested that these six PFAS act through a shared mechanism of action (i.e., PPARα pathway induction); however, data indicate that PPARα induction in humans may be 80% less than what is observed in rodents. Also, induction of the PPARα pathway is not a cause of systemic disease. Seventh, the Agency failed to disclose that achieving the new MCL would yield negligible reductions in blood PFAS levels even among highly exposed populations, given drinking water accounts for only 20% or less of total PFAS exposure. The survey that could answer that question, the EPA's fifth Unregulated Contaminant Monitoring Rule, was only 25% complete at the time the MCL was promulgated. Overall, our analysis concluded that while the EPA's intent to regulate these chemicals due to their environmental presence was necessary, the derivation of the MCLs and the alleged health effects was based on the application of the precautionary principle rather than robust scientific evidence.

美国环境保护局的全氟辛酸、全氟辛烷磺酸和相关的全氟烷基和多氟烷基物质2024饮用水最大污染物水平:第2部分-关于健康危害的15个误解。
本文考察了美国环境保护署(EPA)关于饮用水中PFAS的最终规则(例如,最大污染物水平- mcl)中关于六氟烷基和多氟烷基物质(PFAS)的广泛看法。根据我们对科学文献的理解和利益相关者对2024年4月颁布的EPA法规提交的意见,我们确定了15个科学基础薄弱的误解。这些现在已被记在六种PFAS的mcl中,但由于正在进行的模棱两可的研究结果仍存在争议。许多批评最低限度标准的人认为,环境保护局对已公布的相关信息,特别是对全氟辛酸(PFOA)和全氟辛烷磺酸(PFOS)的毒理学的系统审查是不充分的。以下七个观点是最重要的。首先,环境保护署声称,这六种化学物质的毒理学知之甚少,缺乏足够的数据来确定对慢性健康影响的安全每日摄入量;尽管如此,他们颁布了可能是迄今为止最昂贵的环境法规。值得注意的是,即使在血液浓度高于当前背景PFAS水平50-100倍的情况下,职业暴露个体的不良影响仍然难以证明。其次,该机构指出,流行病学数据显示,接触全氟辛烷磺酸和全氟辛烷磺酸会导致肾癌和潜在的其他癌症,但数据模棱两可,不支持这一断言。第三,有人指出,根据已颁布的规则,可以预防特定的非癌症影响,如心脏病;然而,他们所依赖的研究并没有显示,即使在高度暴露的人群中,心脏病的发病率也会增加。第四,尽管大量的毒理学数据表明,动物,特别是啮齿动物,不能很好地预测人类对PFAS暴露的反应,但该机构依靠动物数据来支持其关于PFAS可能对人类产生毒性作用的观点。第五,EPA预测医疗保健支出的减少将抵消遵守MCL的大部分成本,但是,他们没有足够的数据来支持这一预测。第六,EPA认为这六种PFAS通过共同的作用机制(即PPARα通路诱导)起作用;然而,数据表明,PPARα在人类中的诱导作用可能比在啮齿动物中观察到的要少80%。此外,PPARα通路的诱导不是全身性疾病的原因。第七,该机构没有披露,即使在高暴露人群中,实现新的MCL也会使血液中PFAS水平的降低可以忽略不计,因为饮用水只占总PFAS暴露量的20%或更少。可以回答这个问题的调查,即美国环保署的第五项不受管制污染物监测规则,在MCL颁布时只完成了25%。总的来说,我们的分析得出的结论是,尽管EPA因这些化学品在环境中的存在而有意对其进行监管是必要的,但mcl的推导和所谓的健康影响是基于预防原则的应用,而不是强有力的科学证据。
本文章由计算机程序翻译,如有差异,请以英文原文为准。
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来源期刊
CiteScore
9.50
自引率
1.70%
发文量
29
期刊介绍: Critical Reviews in Toxicology provides up-to-date, objective analyses of topics related to the mechanisms of action, responses, and assessment of health risks due to toxicant exposure. The journal publishes critical, comprehensive reviews of research findings in toxicology and the application of toxicological information in assessing human health hazards and risks. Toxicants of concern include commodity and specialty chemicals such as formaldehyde, acrylonitrile, and pesticides; pharmaceutical agents of all types; consumer products such as macronutrients and food additives; environmental agents such as ambient ozone; and occupational exposures such as asbestos and benzene.
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