News Release

EPA's draft health assessment for formaldehyde needs improvement

Peer-Reviewed Publication

National Academies of Sciences, Engineering, and Medicine

WASHINGTON — A U.S. Environmental Protection Agency draft assessment of the potential health effects associated with formaldehyde exposure needs substantial revision, says a new report from the National Research Council, which recommends improvements for EPA's final assessment. The report finds that EPA supports its conclusions that formaldehyde can cause irritation to the eyes, nose, and throat; lesions in the respiratory tract; and genetic mutations at high concentrations. Furthermore, the report finds that the evidence is sufficient for EPA to conclude that formaldehyde exposures are a cause of cancers of the nose, nasal cavity, and upper throat. However, the draft assessment has not adequately supported its conclusions that formaldehyde causes other cancers of the respiratory tract, leukemia, or several other noncancer health outcomes. Also, the assessment should consider additional studies to derive noncancer reference concentrations (RfCs), which are estimates of lifetime concentrations to which someone could be exposed without appreciable risk of particular adverse health effects.

Formaldehyde is an important industrial chemical used to produce a wide array of materials, but it is also generated naturally by the human body. When inhaled, it is absorbed primarily at the site of first contact, where it is metabolized and reacts with cellular components; thus, inhaled formaldehyde remains predominantly in the tissue that lines the airways. Given the pervasive exposure of the general population to some concentration of formaldehyde, federal agencies tasked with protecting public health are concerned about the health effects. In June 2010, EPA released its draft health assessment of formaldehyde, and a Research Council committee that wrote the report reviewed the assessment and key literature to determine whether EPA's conclusions were supported. The committee did not perform its own assessment or conduct additional literature searches.

Overall, the committee found that EPA's draft assessment was not prepared in a logically consistent fashion, lacks clear links to an underlying conceptual framework, and does not sufficiently document methods and criteria used to identify evidence for selecting and evaluating studies. Moreover, many of the general problems with the EPA formaldehyde health assessment have been identified by other Research Council committees that reviewed other EPA chemical assessments in recent years. For instance, there have been recurring problems with clarity and transparency of the methods, even though the documents have grown considerably in length. The committee concluded that if the methodologic issues are not addressed, future assessments may suffer from the same general problems highlighted in this report.

Various cancerous and noncancerous health effects attributed to formaldehyde were evaluated in EPA's draft assessment, including:

  • Leukemia and lymphoma. The committee did not support EPA's grouping of all types of leukemias and lymphomas because it combined diverse cancers that are not closely related. Although EPA presented an exhaustive description of studies and speculated extensively on how formaldehyde reacts in the body, the determinations of causality are not supported in the assessment. EPA should revisit its arguments and include detailed descriptions of the criteria that were used to weigh evidence and assess causality.

  • Respiratory tract cancers. The committee found that EPA's assessment had sufficient evidence to conclude that formaldehyde causes cancer in the nose, nasal cavity, and nasopharnyx (upper throat). However, the evidence regarding the chemical's relationship to cancer in other sites in the respiratory tract was considered insufficient.

  • Asthma. EPA should strengthen its discussion of asthma to reflect current understanding of the disease, as the term "asthma" is commonly applied to a broad category of respiratory diseases, the committee said. EPA's assessment provides little discussion about how asthma could be caused or exacerbated by formaldehyde exposure.

  • Nervous system function. EPA's conclusion that formaldehyde harms the nervous system was overstated, the committee said. The human data used as evidence are insufficient and the candidate animal studies deviate substantially from testing guidelines and common practice.

  • Reproduction and development. The report finds that the evidence is insufficient to support EPA's conclusion that there is a "convincing" relationship between formaldehyde exposure and adverse reproductive outcomes, such as infertility in women. Rather, the human data suggest a pattern of association -- meaning the evidence indicates there could be an increased risk for an adverse reproductive outcome but uncertainty limits any conclusion. Although the animal data also suggest an effect, EPA should weigh the positive and negative results more rigorously, evaluate study quality more critically, and consider carefully potential confounding factors.

In addition, the report suggests improvements to the development and presentation of EPA's calculated RfC values and strongly encourages a more informative approach similar to that previously proposed by other Research Council committees and used in other recent EPA assessments. The committee recommended that EPA use an appropriate graphical display to help identify a central value, isolate especially high or low values that might not be consistent with the literature, and improve the ability of the assessment to make a compelling case that the RfC proposed is appropriate.

The report also offers general recommendations to help revise the formaldehyde draft assessment, including rigorously editing to reduce the volume of text, adding clear and concise statements on the methods used, standardizing evidence tables, and thoroughly evaluating all critical studies for strengths and weaknesses. The committee also provided a "road map" for improving the assessment process in general.

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The study was sponsored by the U.S. Environmental Protection Agency. The National Academy of Sciences, National Academy of Engineering, Institute of Medicine, and National Research Council make up the National Academies. They are independent, nonprofit institutions that provide science, technology, and health policy advice under an 1863 congressional charter. Committee members, who serve pro bono as volunteers, are chosen by the Academies for each study based on their expertise and experience and must satisfy the Academies' conflict-of-interest standards. The resulting consensus reports undergo external peer review before completion. For more information, visit http://national-academies.org/studycommitteprocess.pdf. A committee roster follows.

Contacts:
Jennifer Walsh, Media Relations Officer
Luwam Yeibio, Media Relations Assistant
Office of News and Public Information
202-334-2138; e-mail news@nas.edu

Pre-publication copies of Review of the Environmental Protection Agency's Draft IRIS Assessment of Formaldehyde are available from the National Academies Press; tel. 202-334-3313 or 1-800-624-6242 or on the Internet at http://www.nap.edu. Reporters may obtain a copy from the Office of News and Public Information (contacts listed above).

NATIONAL RESEARCH COUNCIL
Division on Earth and Life Studies
Board on Environmental Studies and Toxicology

Committee to Review the Draft IRIS Assessment on Formaldehyde
Jonathan M. Samet (chair)
Professor and Flora L. Thornton Chair
Department of Preventive Medicine
Keck School of Medicine, and
Director
Institute for Global Health
University of Southern California
Los Angeles

Andrew F. Olshan (vice chair)
Professor and Chair
Department of Epidemiology
Gillings School of Global Public Health
University of North Carolina
Chapel Hill

A. John Bailer
Distinguished Professor and Chair
Department of Statistics
Miami University
Oxford, Ohio

Sandra J.S. Baird
Environmental Analyst
Office of Research and Standards
Massachusetts Department of Environmental Protection
Boston

Harvey Checkoway
Professor
Departments of Environmental and Occupational Health Sciences and Epidemiology
School of Public Health and Community Medicine
University of Washington
Seattle

Richard A. Corley
Laboratory Fellow
Biological Monitoring and Modeling Group
Pacific Northwest National Laboratory
Richland, Wash.

David C. Dorman
Associate Dean for Research and Graduate Studies
College of Veterinary Medicine
North Carolina State University
Raleigh

Charles H. Hobbs
Senior Scientist Emeritus
Lovelace Respiratory Research Institute
Stockdale, Texas

Michael D. Laiosa
Assistant Professor
University of Wisconsin
Milwaukee

Ivan Rusyn
Professor
Department of Environmental Sciences and Engineering
University of North Carolina
Chapel Hill

Mary Alice Smith
Associate Professor and Graduate Coordinator
Environmental Health Science
University of Georgia
Athens

Leslie Stayner
Professor and Director
Division of Epidemiology and Biostatistics
School of Public Health
University of Illinois
Chicago

Helen Suh
Program Area Director
Environmental Health
Public Health Division
National Opinion Research Center
University of Chicago
Chicago

Yiliang Zhu
Professor
Department of Epidemiology and Biostatistics
College of Public Health
University of South Florida
Tampa

Patrick A. Zweidler-McKay
Assistant Professor
Division of Pediatrics
Children's Cancer Hospital
University of Texas M.D. Anderson Cancer Center
Houston

RESEARCH COUNCIL STAFF

Ellen Mantus
Study Director


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