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The Use of the Risk Screening Environmental Indicators (RSEI) Program to evaluate 13 Counties of Northwest Florida TRI & RSEI Evaluations
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A-2 What Is the Toxics Release Inventory (TRI)? n The TOXICS RELEASE INVENTORY Begun in 1988, the Toxics Release Inventory contains information on releases of nearly 650 chemicals and chemical categories from industries including manufacturing, metal and coal mining, electric utilities, and commercial hazardous waste treatment, among others. n http://www.epa.gov/triexplorer http://www.epa.gov/triexplorer n http://www.epa.gov/enviro http://www.epa.gov/enviro n http://www.scorecard.org http://www.scorecard.org n http://www.rtk.net http://www.rtk.net
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A-3 What Is the Risk-Screening Environmental Indicators Model? RSEI is a screening-level model for assessing potential chronic human health impacts of industrial releases of toxic chemicals: RSEI provides the following types of screening analyses: Pounds Hazard Risk-related RSEI uses TRI pounds of release data and adds toxicity, fate and transport, and an estimate of exposed population to allow new perspectives on hazard and risk.
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A-4 Where Do You Want Me To Start??? n A.Who Reports to TRI?? n B.How Does RSEI Work?? n C.How is RSEI Data Processed?? n D.The NW FL Example
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TRI REPORTING PROCESS STOP Reporting Thresholds Met; Form R/Form A Required *MPOU: Manufacture (including import), process, or otherwise use YES NO YES Covered Primary SIC Code(s) or Federal facility? Ten Employees? (20,000 hours) MPOU* Section 313 Chemicals? MPOU* Thresholds Exceeded? A-5 Reporting Exemptions Introduction to TRI Form R/ Form A PBT Overview Introduction to TRI Determining Thresholds
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COVERED SIC CODES A-6 Reporting Exemptions Introduction to TRI Form R/ Form A PBT Overview Introduction to TRI Determining Thresholds
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A-7 n A facility meeting the SIC code (or Federal facility) and employee criteria must file a TRI report for a non-PBT Section 313 chemical if the facility (40CFR§372.25): Manufactured (including imported) more than 25,000 pounds per year, or Processed more than 25,000 pounds per year, or Otherwise used more than 10,000 pounds per year n Threshold calculations are based on cumulative quantities per Section 313 chemical over the reporting year THRESHOLDS TRIGGERING EPCRA SECTION 313 REPORTING
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A-8 n If a facility manufactures, processes, or otherwise uses any chemicals that are listed as persistent, bioaccumulative, and toxic (PBT), the threshold quantity is one of the following per Section 313 chemical or category per year (40CFR§372.28): THRESHOLDS TRIGGERING EPCRA SECTION 313 REPORTING 10 pounds Highly persistent and bioaccumulative compounds 0.1 grams Dioxin and dioxin-like compounds 100 pounds Other persistent and bioaccumulative compounds (lead and lead compounds) Otherwise useProcessManufacture Reporting Threshold, by ActivityType of Chemical
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A-9 Additional Resources. n EPA Toxics Release Inventory (TRI) Home Page http://www.epa.gov/tri n EPA EPCRA Hotline (800) 424-9346 n EPA Envirofacts: http://www.epa.gov/enviro n TRI Explorer: http://www.epa.gov/triexplorer Additional Resources
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EPA’s Risk-Screening Environmental Indicators (RSEI)
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A-11 What Is the Risk-Screening Environmental Indicators Model? RSEI is a screening-level model for assessing potential chronic human health impacts of industrial releases of toxic chemicals: RSEI provides the following types of screening analyses: Pounds Hazard Risk-related RSEI uses TRI pounds of release data and adds toxicity, fate and transport, and an estimate of exposed population to allow new perspectives on hazard and risk.
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A-12 RSEI and Risk Assessment RSEI incorporates components of risk assessment: Amount of chemical released Toxicity of the chemical Fate and transport of the chemical Route and extent of human exposure Number of people affected RSEI is not a formal risk assessment, but is useful for performance measurement, prioritization, and trend analysis because it systematically incorporates toxicity and exposure considerations in a screening-level analysis.
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A-13 How RSEI Works -- Calculations n Risk-related results = Surrogate Dose * Toxicity Weight * Population n Hazard-based results = Pounds * Toxicity Weight n Pounds-based results = TRI Pounds released
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A-14 RSEI Model Details Inhalation (Air) surrogate dose - divides U.S. and territories into 1-km x 1-km grid cells calculates air concentrations for each cell in 101 x 101 km grid around facilities uses population-specific exposure factors Ingestion (Water) surrogate dose - calculates water concentrations in receiving streams up to 200 km downstream of outflow finds downstream drinking water intakes calculates fish ingestion exposure for population within 80 km of receiving stream uses population-specific exposure factors
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A-15 What Kinds of Questions Can RSEI Answer ? What are the trends in hazard and risk associated with toxic chemical releases and other waste management activities at industrial facilities? When comparing industries, how can I rank which industry sectors are associated with relatively more risk? What is the relative contribution of specific chemicals to overall risk in a community (state, county, city), and how do I prioritize these for follow-up activities? For any given scenario, what release pathway for a particular chemical poses the greatest risk-related concerns? Also questions concerning: Tribal lands, EJ issues, important age groups (e.g., children & elderly), etc.
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A-16 Points to Remember RSEI PROVIDES QUICK PERSPECTIVES ON HAZARD & RISK, BUT IS ONLY THE FIRST STEP! RSEI uses facility-reported TRI data which can contain reporting errors. TRI data is limited to major industrial point sources. RSEI toxicity weights are based on chronic human toxicity associated with long-term exposure and do not address acute human toxicity or environmental toxicity. Dermal and food ingestion pathways (other than fish consumption), as well as some other indirect exposure pathways are not evaluated.
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A-17 Points to Remember cont. Metals and metal compounds are assumed to be released in the valence (or oxidation) state associated with the highest chronic toxicity weight. Some generic assumptions for stack heights, diameters, and exit gas velocities are used where facility-specific data are unavailable. RSEI results do not indicate whether hazard or risk from a chemical or facility is “acceptable” or “unacceptable” to a population or individual. RSEI is useful in many applications where TRI pounds have been used as a risk surrogate.
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A-30 RSEI Team Contacts Gary Cole: (202) 564-8811 Richard Engler: (202) 564-8587 Robert Lee: (202) 564-8786 Cody Rice: (202) 564-8769 URL: http://www.epa.gov/oppt/rsei
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A-31 Region 4 CONTACT INFORMATION Ezequiel Velez, EPA Region 4 Toxics Release Inventory (TRI) Coordinator Tel. (404) 562-9191 velez.ezequiel@epa.gov Douglas Chatham, EPA Region 4 TRI Program Assistant Tel. (404) 562-9113 chatham.douglas@epa.gov U.S. EPA Region 4 61 Forsyth Street, S.W. Atlanta, GA 30303
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