March 22, 2017
Latest Community Victories
Before we get to FAN's response to the EPA's recent decision, I'd like to highlight three communities in the U.S. that have recently voted against water fluoridation:
On January 11, 2017, the EPA published a Proposed Rule in the Federal Register1 on its decision to defer the Six-Year Review of fluoride for the National Primary Drinking Water Regulations (NPDWR). According to EPA, the purpose of a Six-Year Review is:
FAN disagrees with EPA’s decision to defer performing a review as we find that fluoride poses unacceptable risks to the fetus, infant, child, and adult. In April 2011 FAN submitted two substantive submissions2,3 to EPA. Because EPA never responded to these submissions, we attach them as a major part of this submission as they are relevant to the risks we are concerned with and also deserving of a response. Added to those submissions we include the following:
“A new – and safe – MCLG must be determined without any further delay. William Hirzy PhD (a former risk assessment specialist at the EPA) has shown the EPA exactly how the Office of Water can do this. There simply are no excuses left.”
FAN’s Request: An Immediate Moratorium
Because of the lack of timeliness that EPA has demonstrated in responding to the public’s concerns on fluoride, and the critical nature of those concerns, FAN requests the EPA’s Office of Water place an immediate moratorium on drinking water fluoridation in order to protect the health of the public while EPA finds the time to examine the material in this submission, as well as the submissions of others, including those submitted by Kathleen Thiessen PhD.
To read the whole of the submission go to: http://fluoridealert.org/wp- content/uploads/fan- submission-to-epa.3-13-17- final.pdf
To see the references cited above, go to pages 5-6
Latest Fluoride News
-Legislative Hearing on Reversing Fluoridation Mandate Next Week (Arkansas)
-Newspaper Editor: Let Voters Speak on Fluoridation (Arkansas)
-Bill Introduced to Mandate Fluoridation for Washoe County Water (Nevada)
-New Report. No Brainer. The Impact of Chemicals on Brain Development (U.K.)
-Law Review: EPA Denies TSCA Section 21 Petition on Fluoride (U.S.A.)
-Fluoridation Remains a Complicated Matter for Worcester (Massachusetts)
-Peel Council Votes to Continue with Water Fluoridation (Ontario)
-The History of the Water Fluoridation Debate in Juneau (Alaska)
For more fluoride related media, please visit FAN’s News Archive.
Sincerely,
Stuart Cooper
Campaign Director
Fluoride Action Network
Before we get to FAN's response to the EPA's recent decision, I'd like to highlight three communities in the U.S. that have recently voted against water fluoridation:
Greenfield MA (pop. 18,000): The
Greenfield Board of Health heard overwhelming opposition from residents
and local organic businesses during two public meetings on
fluoridation, ultimately leading the board to reject the practice.
Decision-makers cited "underwhelming" evidence on effectiveness and
persuasive resident opposition as reasons for their opposition.
East Brunswick, New Jersey (pop. 49,000):
After two years of debate, public input, and diligent consideration,
the Mayor and Council voted to end fluoridation after nearly 70 years of
adding the chemical. This victory is especially wonderful because
prior to the vote, FAN's very own Paul Connett, PhD participated in a
locally televised debate against periodontist
and former President of the New Jersey Dental Association, Richard
Kahn, DDS. This is certainly a humiliating loss for the fluoride lobby.
Jonesborough, Tennessee (pop. 5,000): The
Board of Mayor and Aldermen voted 3-1 to end fluoridation after months
of deliberation, polling the public, and hosting many meetings on the
issue. It is the third water district in the state to end fluoridation
in the past 10 months; others include the Dekalb Utility District and the Northwest Utility District.
FAN Responds to the EPA
Ellen Connett, FAN Managing Director
On March 13, FAN submitted comments to
the U.S. EPA on their decision not to do a compulsory "Six-Year Review"
of fluoride on the basis that it was a "Low priority and/or no
meaningful opportunity" issue.Ellen Connett, FAN Managing Director
On January 11, 2017, the EPA published a Proposed Rule in the Federal Register1 on its decision to defer the Six-Year Review of fluoride for the National Primary Drinking Water Regulations (NPDWR). According to EPA, the purpose of a Six-Year Review is:
...to
evaluate current information for regulated contaminants to determine if
there is new information on health effects, treatment technologies,
analytical methods, occurrence and exposure, implementation and/or other
factors that provides a health or technical basis to support a
regulatory revision that will improve or strengthen public health
protection.
In the Proposed Rule, EPA stated its decision to forego a review:
The
Agency has determined that a revision to the NPDWR for fluoride is not
appropriate at this time. EPA acknowledges information regarding the
exposure and health effects of fluoride (as discussed later in the
“Health Effects” and “Occurrence and Exposure” sections). However, with
EPA's identification of several other significant NPDWRs as candidates
for near-term revision (see Sections VI.B.3 and VI.B.4), potential
revision of the fluoride NPDWR is a lower priority that would divert
significant resources from the higher priority candidates for revision
that the Agency has identified, as well as other high priority work
within the drinking water office.
FAN’s Response:FAN disagrees with EPA’s decision to defer performing a review as we find that fluoride poses unacceptable risks to the fetus, infant, child, and adult. In April 2011 FAN submitted two substantive submissions2,3 to EPA. Because EPA never responded to these submissions, we attach them as a major part of this submission as they are relevant to the risks we are concerned with and also deserving of a response. Added to those submissions we include the following:
- The
Neurotoxicity of Fluoride (pp 7-34). This new section, written by
Michael Connett, includes 196 published studies that have addressed the
neurotoxic effects of fluoride exposure subsequent to the National
Research Council’s 2006 report7, including 61 human studies,
115 animal studies, 17 cell studies, and 3 systematic reviews. In FAN’s
2011 submissions we listed 15 studies reporting an association of
fluoride and reduced IQ (see pages 39-412) - today there are
50 studies. A Flash Drive containing over 300 studies referenced in this
section was sent to EPA’s Docket Reading Room.
- Fluoride was labeled a developmental neurotoxin in 20148; this is discussed in the above section on the Neurotoxicity of Fluoride.
- In a 2015 study, Malin & Till9
found a statistically significant correlation between the prevalence of
water fluoridation at the state level and Attention-Deficit
Hyperactivity Disorder (ADHD). This is discussed in the above section on
the Neurotoxicity of Fluoride.
- In a 2015 study, Peckham et al.10
reported an association or risk of higher levels of hypothyroidism in
practices in fluoridated areas across England. (Approximately 10% of the
population live in fluoridated areas.)
- In 2016, Hirzy et al. published a risk assessment that found U.S. children receive unsafe levels of fluoride11 (pp 35-36).
- In
2013, Hirzy et al. reported on the cancers due to, and their costs
associated with, the chemicals used in community water fluoridation
programs12,13 (pp 37-38).
- Fluoride and Cancer, particularly Osteosarcoma (p 39)
- Food treated with Highly Neurotoxic Fumigant (pp 40-41)
- Fluoridation is an Environmental Justice Issue (pp 42-85)
- According
to the Toxic Release Inventory there are millions of pounds of fluoride
and fluorine emissions released legally each year into the environment,
yet no regulatory agency is studying or protecting the residents who
live downwind of these facilities. (pp 88-94)
- Against
Forgetting: Published Fluoride Studies: 2010 – February 2017 (pp
95-158). The top five categories with the most studies for this time
period are: 104 Bone/Joint studies; 82 Reproductive studies; 81 Animal
Brain Studies; 75 Dental Fluorosis studies; 75 Total Body Burden
studies; 48 Kidney studies. This list updates the studies we submitted
to EPA in 20112 in Appendix A: Selected studies published since the release of the NRC report in 2006.
- NHANES in 201414
reported dental fluorosis rates at 58.3% of U.S. surveyed adolescents,
including an astonishing 21.2% with moderate dental fluorosis, and 2%
with severe dental fluorosis. This represents significant over-exposure
to fluoride in America’s children.
- NHANES in 201615
reported that 350,000 U.S. children (1 in 200) have serum fluoride
levels in the approximate range associated with overt neurotoxic
effects.
- According to the 2015 Cochrane Report16,
“We did not identify any evidence, meeting the review's inclusion
criteria, to determine the effectiveness of water fluoridation for
preventing caries in adults.”
- In 2015, Ko and Thiessen17
released a study that found no cost-savings from community water
fluoridation because of the costs associated with treating dental
fluorosis.
FAN Senior Adviser Paul Connett said that the EPA’s decision to give a “low priority” to the determination of a new
MCLG (safe drinking water goal) for fluoride some eleven years after
the National Research Council (NRC) concluded that the current MCLG of 4
ppm was not protective of health was “unbelievable.” EPA’s “lack of
concern for the potential impacts of fluoride on the I.Q. of millions of
American children is as irresponsible as it is reprehensible.”
Connett believes that the EPA has dragged its feet to protect the obsolete water fluoridation program.“A new – and safe – MCLG must be determined without any further delay. William Hirzy PhD (a former risk assessment specialist at the EPA) has shown the EPA exactly how the Office of Water can do this. There simply are no excuses left.”
FAN’s Request: An Immediate Moratorium
Because of the lack of timeliness that EPA has demonstrated in responding to the public’s concerns on fluoride, and the critical nature of those concerns, FAN requests the EPA’s Office of Water place an immediate moratorium on drinking water fluoridation in order to protect the health of the public while EPA finds the time to examine the material in this submission, as well as the submissions of others, including those submitted by Kathleen Thiessen PhD.
To read the whole of the submission go to: http://fluoridealert.org/wp-
To see the references cited above, go to pages 5-6
Latest Fluoride News
-Legislative Hearing on Reversing Fluoridation Mandate Next Week (Arkansas)
-Newspaper Editor: Let Voters Speak on Fluoridation (Arkansas)
-Bill Introduced to Mandate Fluoridation for Washoe County Water (Nevada)
-New Report. No Brainer. The Impact of Chemicals on Brain Development (U.K.)
-Law Review: EPA Denies TSCA Section 21 Petition on Fluoride (U.S.A.)
-Fluoridation Remains a Complicated Matter for Worcester (Massachusetts)
-Peel Council Votes to Continue with Water Fluoridation (Ontario)
-The History of the Water Fluoridation Debate in Juneau (Alaska)
For more fluoride related media, please visit FAN’s News Archive.
Sincerely,
Stuart Cooper
Campaign Director
Fluoride Action Network
See all FAN bulletins online
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