Sequential Analysis of Lines of Evidence—An Advanced Weight-of-Evidence Approach for Ecological Risk Assessment

Author(s):  
Ruth N Hull ◽  
Stella Swanson
2014 ◽  
Vol 47 (2) ◽  
pp. 524-539 ◽  
Author(s):  
Claudio Silva ◽  
Eleuterio Yáñez ◽  
María Laura Martín-Díaz ◽  
Tomás Angel DelValls

2019 ◽  
Vol 22 ◽  
Author(s):  
ÉRIC CESAR PAGLIARINI ◽  
VANESSA BEZERRA DE MENEZES OLIVEIRA ◽  
EVALDO LUIZ GAETA ESPINDOLA

Abstract The present research employs the Ecological Risk Assessment (ERA) method to evaluate the probability of adverse effects in the water supply of Bom Repouso (MG), a city where the agriculture has caused an advanced degree of degradation of its sources. The methodology is based on the integration of different variables, divided into three Lines of Evidence (chemical, physical-chemical and ecotoxicological), and allows for the evaluation of risk assessment between 0.0 and 1.0 in the sampled environment. Five sampling points were evaluated in three periods, with the results varying between the four possible ratings (from low to very high), and it was not possible to identify a pattern of risk evolution between them. Thus, the method used proved to be efficient in assessing the degree of degradation of the environment, however, additional studies are required to improve this type of systemic impact assessment, based on the evaluation of the environmental degradation.


2002 ◽  
Vol 2 ◽  
pp. 271-298
Author(s):  
Webster Van Winkle ◽  
William P. Dey ◽  
Steve M. Jinks ◽  
Mark S. Bevlhimer ◽  
Charles C. Coutant

The difference between management objectives focused on sustainability of fish populations and the indigenous aquatic community, and a management objective focused on minimizing entrainment and impingement losses accounts for much of the ongoing controversy surrounding §316(b). We describe the EPA’s ecological risk assessment framework and recommend that this framework be used to more effectively address differences in management objectives and structure §316(b) determinations. We provide a blueprint for the problem formulation phase of EPA-type ecological risk assessments for cooling-water intake structures (CWIS) at existing power plant facilities. Our management objectives, assessment endpoints, conceptual model, and generic analysis plan apply to all existing facilities. However, adapting the problem formulation process for a specific facility requires consideration of the permitting agency’s guidelines and level of regulatory concern, as well as site-specific ecological and technical differences. The facility-specific problem formulation phase is designed around the hierarchy of biolo gical levels of organization in the generic conceptual model and the sequence of cause-effect events and risk hypotheses represented by this model. Problem formulation is designed to be flexible in that it can be tailored for facilities where §316(b) regulatory concern is low or high. For some facilities, we anticipate that the assessment can be completed based on consideration of susceptibility alone. At the other extreme, a high level of regulatory concern combined with the availability of extensive information and consideration of costly CWIS mitigation options may result in the ecological risk assessment relying on analyses at all levels. Decisions on whether to extend the ecological risk assessment to additional levels should be based on whether regulatory or generator concerns merit additional analyses and whether available information is adequate to support such analyses. In making these decisions, the functional dependence between levels of analysis must be considered in making the transition to the analysis phase and risk estimation component of the ecological risk assessment. Regardless of how the generic analysis plan is modified to develop a facility-specific analysis plan, the resulting plan should be viewed as a tool for comparing representative species and alternative CWIS options by focusing on relative changes (i.e., proportional or percent changes) in various measures. The analysis plan is specifically designed to encourage consideration of multiple lines of evidence and to characterize uncertainties in each line of evidence. Multiple lines of evidence from different levels of analysis, obtained using both prospective and retrospective techniques, provide a broader perspective on the magnitude of potential effects and associated uncertainties and risks. The implications of the EPA’s recent (April 2002) proposed regulations for existing facilities on the applicability of this blueprint are briefly considered.


2018 ◽  
Vol 154 ◽  
pp. 255-262 ◽  
Author(s):  
Xuzhi Li ◽  
Meie Wang ◽  
Weiping Chen ◽  
Herman Uwizeyimana

2005 ◽  
Vol 69 (5) ◽  
pp. 601-613 ◽  
Author(s):  
J. M. Weeks ◽  
S. D. W. Comber

AbstractThe basis for an ecological risk assessment based on meeting the needs of recent UK and EU legislation is described. The background to the framework and the legislative driver and relevant definitions of harm are provided, prior to an overview of the proposed ecological risk assessment process, which has been broken down into a Tiered approach. Tier 0 requires the establishment of a conceptual site model, where potential contaminant-pathway-receptor linkages are sought and, assuming they are identified, lead on to higher Tier assessments. Tier 1 relies largely on chemical analysis of soil contaminant levels and comparison with soil quality guideline values to assess the likelihood of harm. In some cases biological screening assays may also be undertaken within this Tier. Based on a weight of evidence approach, should data from Tier 1 indicate harm or leave uncertainty, then Tier 2 biological testing is undertaken using assays relevant to the site of interest. In situations where harm is identified under Tier 2 then Tier 3 is reserved for establishing the extent of harm within the ecosystem. Finally the use of the 'weight-of-evidence' approach to generate scientifically robust conclusions regarding the harm (or potential for harm) within the ecosystem is briefly outlined. The framework discussed is currently being adopted by the UK Environment Agency, with implementation expected in 2005. The UK scheme compares favourably with comparative schemes operating in other countries possessing the merits of being iterative, tiered, flexible with agreed exit points subject to satisfying defined criteria and so speeding the decision-making process.


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