Greenpeace Is Wrong - A Response To Greenpeace's Latest Claims About Phthalate Esters Prepared by the Chemical Manufacturers Association Phthalate Esters Panel


    WASHINGTON, Nov. 13 /PRNewswire/ -- The following statement was issued
today by Chemical Manufacturers Association Phthalate Esters Panel:

    Greenpeace has issued a press release and report that purport to show that
the phthalate ester principally used in children's toys (DINP) poses human
health hazards.  Greenpeace is wrong.  The following explains why.
    1.  Exposure is minimal.  Greenpeace compares chewing on a toy to
squeezing a sponge, and seeks to imply that the phthalate ester comes out of
the toy just like water comes out of a sponge.  In fact, the amount that comes
out of the toy is extremely small.  The amounts that come out are measured in
micrograms.  A microgram is one millionth of a gram, and a gram is less than
one-tenth of an ounce.
    2.  There is no human cancer hazard.  Greenpeace suggests that DINP in
toys poses a cancer hazard.  DINP has been shown to cause liver tumors in rats
and mice that are fed very high doses every day for their lifetimes.  This
finding was not a surprise.  DINP is what is known as a "peroxisome
proliferator," meaning that it causes a component in the liver cells of mice
and rats to multiply.  If the rats or mice are exposed to large amounts of a
peroxisome proliferator for a long period, the liver cell changes eventually
lead to tumor formation.  Peroxisome proliferators do not act in humans the
same way as in rodents.  This has been demonstrated numerous times using
primates as a model for humans and using human cells in culture.  The
potential for peroxisome proliferators (including many FDA-approved drugs) to
cause cancer in humans was considered at a 1995 international symposium that
included approximately 100 scientists from government agencies, academia and
industry, including leading researchers in the field from the United States
and Europe.  Those scientists concluded "that it is unlikely that peroxisome
proliferators are carcinogenic to humans under anticipated conditions and
levels of exposure."(a)  Numerous other articles in the peer-reviewed
scientific literature support the view that peroxisome proliferators such as
the phthalate esters are not human carcinogens at any likely level of
exposure.(b)
    3.  There is no developmental or reproductive hazard.  Greenpeace implies
that DINP poses a hazard to the reproductive organs.  This view is not
supported by the scientific evidence.  In fact, the U.S. Consumer Product
Safety Commission (CPSC) preliminary report on DINP concluded that
commercially-available DINP "is not a developmental or reproductive toxin."(c)
Additionally, RIVM, the Dutch governmental science institute, has concluded
that "there is no proof of any effect of the phthalates di-isononylphthalate
(DINP) and di-isodecylphthalate (DIDP) on reproduction and on male fertility
in particular."(d)
    4.  Recent studies show that DINP does not mimic estrogen.  Greenpeace
cites a 1997 paper to imply a possible hazard based on the potential for DINP
to mimic the hormone estrogen.(e)  That paper reported the results from a
"test tube" study, in which DINP "showed extremely weak estrogenic activity"
(DINP was more than 1 million times less potent than human estrogen).(f)  DINP
has not shown estrogenic activity in other "test tube" studies.  In addition,
such "test tube" experiments are used as screening tools -- the more critical
studies for endocrine effects are conducted in live animals.  In such live
animal tests, which have recently been conducted, DINP does not show
estrogenic activity.(g)
    5.  There is no reason to believe that DINP in toys poses other health
hazards.  A report recently prepared by a Dutch Consensus Group (DCG) recently
examined this issue.(h)  The DCG report evaluated the potential for young
children to be exposed to DINP in excess of an acceptable daily intake (ADI)
level.  The value the DCG used for the ADI was 0.1 milligrams per kilogram
body weight per day (mg/kg/day).  The report stated that for children between
12 and 36 months of age, no exceedance of the ADI would occur.(i)  For
children under 12 months, the report stated, "In 99% of the cases the exposure
would remain below 0.1 mg/kg/day.  In 95% of the cases the exposure would
remain under 0.04 mg/kg/day."(j)  Although the report found a statistical
possibility that the exposure for a child under 12 months might exceed the
ADI, it stated that that possibility is "so rare that the statistical
likelihood cannot be estimated on the basis of the current data."(k)

    Moreover, the ADI used by DCG was based on studies conducted in 1986 which
showed no effects in rats at 17 mg/kg/day.  More recent studies using
additional dose levels have now established that the ADI should be
considerably higher.  Specifically, these studies show that no adverse effects
are seen in rats and mice at levels up to 90 mg/kg/day.  Using the same safety
factors applied by the DCG, these studies support an ADI of approximately
0.9 mg/kg/day -- a 9-fold increase.  We are aware of no credible data that
suggests that toys would produce exposures that exceed this new ADI.
    Greenpeace has launched a global campaign against all uses of vinyl.
Their attacks on vinyl toys appear to be part of that campaign.  Last year,
Greenpeace claimed that children were exposed to dangerous levels of lead and
cadmium from children's toys.  That claim was rejected by the U.S. Consumer
Product Safety Commission (CPSC).  The Phthalate Esters Panel believes the
current allegations about phthalate esters are equally groundless.
    The Phthalate Esters Panel is working cooperatively with the CPSC,
providing them with data and research on DINP so that the safety of phthalate
esters in vinyl toys can be evaluated using the best science available.
    DINP has been extensively tested over a period of many years, using state-
of-the-art testing procedures.  Based on this research, the producers strongly
believe that DINP is safe and does not pose a hazard to children's health when
properly used in vinyl toys.

    (a) Cattley, R.C., DeLuca, J., Elcombe, C., et al. (1998).  Do Peroxisome
Proliferating Compounds Pose a Hepatocarcinogenic Hazard to Humans?  Reg.
Toxicol.  Pharmacol.  27:47-60.
    (b) E.g., Ashby, J., A. Brady, C.R., Elcombe, et al. (1994).
Mechanistically-based Human Hazard Assessment of Peroxisome Proliferator-
Induced Hepatocarcinogenesis.  Human & Exptl. Toxicol. 13:(Suppl. 2), S1-S117;
Bentley, P., Calder, I., Elcombe, C., Grasso, P., Stringer, D., and Weigand,
H. (1993).  Hepatic Peroxisome Proliferation in Rodents and Its Significance
for Humans.  Chem.  Toxicol.  13:857-907; Lake, B.G. (1995).  Mechanisms of
Hepatocarcinogenicity of Peroxisome-Proliferating Drugs and Chemicals.  Ann.
Rev. Pharmacol. Toxicol. 35:483-507; Williams, G.M., and Perrone, C. (1996).
Mechanism-based Risk Assessment of Peroxisome Proliferating Rodent
Hepatocarcinogens.  Ann. N.Y. Acad. Sci. 804:554-72; Huber, W.W.,
B. Grasl-Kraupp, and R. Schulte-Herman (1996).  Hepatocarcinogenic Potential
of Di(2-ethylhexyl) Phthalate in Rodents and Its Implications on Human Risk.
Crit. Rev. Toxicol.  26:365-481.
    (c)  CPSC, Preliminary Hazard Assessment of Diisononyl Phthalate (DINP) in
Children's Products, Memorandum from M. Babich to R. Medford (Mar. 10, 1998),
page 10.
    (d)  RIVM, Consensus consultations on phthalate release from PVC baby toys
(Press Release) (on the Internet at http://www.minvws.nl (click the following
sequence of links: volksgezondheid; preventie en bescherming;
folders & factsheets; beleid en achtergrond; consultations on phthalate
release from PVC baby toys).
    (e)  Harris, C.A., Henttu, P., Parker, M.G., and Sumpter, J.P. (1997).
The Estrogenic Activity of Phthalate Esters In Vitro.  Environ.
Health Persp. 105:802-811.
    (f)  Id.
    (g)  Zacharewski, T.R., Clemons, J.H., Meek, M.D., Wu, Z.F., Fielden,
M.R., and Matthews, J.B. (1998).  Examination of the In-vitro and In-vivo
Estrogenic Activities of Eight Commercial Phthalate Esters.  Toxicological
Sciences (accepted for publication May 19, 1998).
    (h)  RIVM (Rijksinstituut voor Volsgezondheid en Milieu), Phthalate
release from soft PVC baby toys: Report from the Dutch Consensus Group, RIVM
report 613320 002, W.H. Konemann, ed. (September 1998).
    (i)  Id. at 8.
    (j)  Id.
    (k)  Id.


SOURCE Chemical Manufacturers Association Phthalate Esters Panel

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