scholarly journals Ranking Cancer Risks of Organic Hazardous Air Pollutants in the United States

2007 ◽  
Vol 115 (8) ◽  
pp. 1160-1168 ◽  
Author(s):  
Miranda M. Loh ◽  
Jonathan I. Levy ◽  
John D. Spengler ◽  
E. Andres Houseman ◽  
Deborah H. Bennett
2009 ◽  
Vol 117 (5) ◽  
pp. 790-796 ◽  
Author(s):  
Michael C. McCarthy ◽  
Theresa E. O’Brien ◽  
Jessica G. Charrier ◽  
Hilary R. Hafner

2016 ◽  
Vol 50 (5) ◽  
pp. 2117-2120 ◽  
Author(s):  
Elsie M. Sunderland ◽  
Charles T. Driscoll ◽  
James K. Hammitt ◽  
Philippe Grandjean ◽  
John S. Evans ◽  
...  

1990 ◽  
Vol 6 (5) ◽  
pp. 245-255 ◽  
Author(s):  
Si Duk Lee

Noncriteria air pollutants are synonymous with hazardous air pollutants (HAPs), air toxics or toxic air pollutants (TAPs). The term noncriteria pollutants refers to all air pollutants except for the criteria pollutants (SOx, PM, NOx, CO, O3, and Pb). Air toxics are pervasive in our environment worldwide in varying degrees. Uses of these chemicals are varied and numerous; their emissions are ubiquitous, and they include organic compounds such as chlorinated hydrocarbons, dioxins, aldehydes, polynuclear aromatic hydrocarbons, and heavy metals such as chromium, nickel, cadmium, and mercury. There are more than 70,000 chemicals that are in use commercially in the United States, and we know relatively little about their ambient concentrations, persistence, transport and transformation as well as their effects on health and the environment, many of which take decades to emerge. The United States Environmental Protection Agency, under the authority of Section 112 of the Clean Air Act, is mandated to regulate any air pollutant which, in the Administrator's judgment, “causes, or contributes to, air pollution which may reasonably be anticipated to result in an increase in serious irreversible or incapacitating reversible illness.” For such regulatory decision-making, EPA's Office of Health and Environmental Assessment (OHEA) provides scientific assessment of health effects for potentially hazardous air pollutants. In accordance with risk assessment guidelines developed by OHEA over the years, Health Assessment Documents (HADs) containing risk assessment information were prepared and were subjected to critical review and careful revision to produce Final Draft HADs which serve as scientific databases for regulatory decision-making by the Office of Air Quality Planning and Standards (OAQPS) in its risk management process. EPA developed databases such as the Integrated Risk Information System (IRIS) and the National Air Toxics Information Clearinghouse (NATICH) and a technical assistance response system called the Air Risk Information Support Center (AIR RISC), in addition, to help in implementation of the National Air Toxics Program by state and local regulators.


2005 ◽  
Vol os-14 (1) ◽  
pp. 1558925005os-14
Author(s):  
Desi M. Chari

This paper provides a perspective of air pollution control regulations in the United States that affect the Wool Fiberglass Manufacturing Industry. In addition, it analyzes regulations specifically targeted towards formaldehyde emissions from these operations and evaluates what lies ahead under existing Clean Air Act requirements. This paper addresses only the regulatory climate in the United States. However, based on history, other countries such as Canada and European Union tend to mirror US laws that are eventually followed by other developing countries.


1985 ◽  
Vol 35 (5) ◽  
pp. 535-540 ◽  
Author(s):  
Vivian E. Thomson ◽  
Alan Jones ◽  
Elaine Haemisegger ◽  
Bern Steigerwald

1998 ◽  
Vol 14 (04) ◽  
pp. 255-264
Author(s):  
Bhaskar Kura ◽  
Praveen Mookoni

The new system for the control of air toxics being developed by the United States Environmental Protection Agency called the "Maximum Achievable Control Technology" requires the development of technology based standards for Hazardous Air Pollutants within a specific industrial or commercial source category. This paper attempts to provide a comprehensive understanding of the rule and its applicability to shipbuilding and ship repair industry. The reasons for selecting California regulations as the shipyard maximum available control technology, the compliance procedures, the control technologies for paints as-supplied and paints as-applied and other general requirements under the MACT rule are discussed in detail in this paper.


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