Tag Archives: U.S. Environmental Protection Agency

US Environmental Protection Agency finalizes its one-time reporting requirements for nanomaterials

The US Environmental Protection Agency (EPA) has announced its one-time reporting requirement for  nanomaterials. From a Jan. 12, 2017 news item on Nanowerk,

The U.S. Environmental Protection Agency (EPA) is requiring one-time reporting and recordkeeping requirements on nanoscale chemical substances in the marketplace. These substances are nano-sized versions of chemicals that are already in the marketplace.
EPA seeks to facilitate innovation while ensuring safety of the substances. EPA currently reviews new chemical substances manufactured or processed as nanomaterials prior to introduction into the marketplace to ensure that they are safe.

For the first time, EPA is using [the] TSCA [Toxic Substances Control Act] to collect existing exposure and health and safety information on chemicals currently in the marketplace when manufactured or processed as nanoscale materials.

The companies will notify EPA of certain information:
– specific chemical identity;
– production volume;
– methods of manufacture; processing, use, exposure, and release information; and,available health and safety data.

Reactions

David Stegon writes about the requirement in a Jan. 12, 2017 posting on Chemical Watch,

The US EPA has finalised its nanoscale materials reporting rule, completing a process that began more than 11 years ago.

The US position contrasts with that of the European Commission, which has rejected the idea of a specific mandatory reporting obligation for nanomaterials. Instead it insists such data can be collected under REACH’s registration rules for substances in general. It has told Echa [ECHA {European Chemicals Agency}] to develop ‘nano observatory’ pages on its website with existing nanomaterial information. Meanwhile, Canada set its reporting requirements in 2015.

The US rule, which comes under section 8(a) of TSCA, will take effect 120 days after publication in the Federal Register.

It defines nanomaterials as chemical substances that are:

  • solids at 25 degrees Celsius at standard atmospheric pressure;
  • manufactured or processed in a form where any particles, including aggregates and agglomerates, are between 1 and 100 nanometers (nm) in at least one dimension; and
  • manufactured or processed to exhibit one or more unique and novel property.

The rule does not apply to chemical substances manufactured or processed in forms that contain less than 1% by weight of any particles between 1 and 100nm.

Taking account of comments received on the rulemaking, the EPA made three changes to the proposed definition:

  • it added the definition of unique and novel properties to help identify substances that act differently at nano sizes;
  • it clarified that a substance is not a nanomaterial if it fits the specified size range, but does not have a size-dependent property that differs from the same chemical at sizes greater than 100nm; and
  • it eliminated part of the nanomaterial definition that had said a reportable chemical may not include a substance that only has trace amounts of primary particles, aggregates, or agglomerates in the size range of 1 to 100nm.

The EPA has added the new information gathering rule (scroll down about 50% of the way) on its Control of Nanoscale Materials under the Toxic Substances Control Act webpage.

There’s also this Jan. 17, 2017 article by Meagan Parrish for the ChemInfo which provides an alternative perspective and includes what appears to be some misinformation (Note: A link has been removed),

It was several years in the making, but in the final stages of its rule-making process for nanomaterial reporting, the Environmental Protection Agency declined to consider feedback from the industry.

Now, with the final language published and the rule set to go into effect in May, some in the industry are concerned that the agency is requiring an unnecessary amount of costly reporting that isn’t likely to reveal potential hazards. The heightened regulations could also hamper the pace of innovation underway in the industry.

“The poster child for nanotechnology is carbon nanotubes,” says James Votaw, a partner with Manatt, Phelps & Phillips, of the form of carbon that is 10,000 smaller than human hair but stronger than steel. “It can be used to make very strong materials and as an additive in plastics to make them electrically conductive or stiffer.”

The EPA has been attempting to define nanomaterials since 2004 and assess the potential for environmental or human health risks associated with their use. In 2008, the EPA launched an effort to collect voluntarily submitted information from key players in the industry, but after a few years, the agency wasn’t happy with amount of responses. The effort to create a mandatory reporting requirement was launched in 2010.

Yet, according to Votaw, after a 2015 proposal of the rule was extensively criticized by the industry for being overly ambiguous and overly inclusive of its coverage, the industry asked the EPA to reopen a dialogue on the rule. The EPA declined.

The new reporting requirement is expected to cost companies about $27.79 million during the first year and $3.09 million in subsequent years. [emphasis mine]

As far as I’m aware, this is a one-time reporting requirement. Although I’m sure many would like to see that change.

As for the Canadian situation, I mentioned the nanomaterials mandatory survey noted in Stegon’s piece in a July 29, 2015 posting. It was one of a series of mandatory surveys (currently, a survey on asbestos is underway) issued as part of Canada’s Chemicals Management Plan. You can find more information about the nanomaterials notice and approach to the survey although there doesn’t appear to have been a report made public but perhaps it’s too soon. From the Nanomaterials Mandatory Survey page,

The Government of Canada is undertaking a stepwise approach to address nanoscale forms of substances on the DSL. The proposed approach consists of three phases:

  • Establishment of a list of existing nanomaterials in Canada (this includes the section 71 Notice);
  • Prioritization of existing nanomaterials for action; and
  • Action on substances identified for further work.

The overall approach was first described in a consultation document entitled Proposed Approach to Address Nanoscale Forms of Substances on the Domestic Substances List, published on March 18, 2015. This consultation document was open for a 60-day public comment period to solicit feedback from stakeholders, particularly on the first phase of the approach.

A second consultation document entitled Proposed Prioritization Approach for Nanoscale Forms of Substances on the Domestic Substances List was published on July 27, 2016. In this document, the approach proposed for prioritization of existing nanomaterials on the DSL is described, taking into consideration the results of the section 71 Notice.  Comments on this consultation document may be submitted prior to September 25, 2016 …

I look forward to discovering a report on the Canadian nanomaterials survey should one be made public.

Nanotechnology and water sustainability webinar, Oct. 19, 2016

An upcoming (Oct. 19, 2016) webinar from the US National Nanotechnology Initiative (NNI) is the first of a new series (from an Oct. 7, 2016 news item on Nanowerk),

“Water Sustainability through Nanotechnology: A Federal Perspective” – This webinar is the first in a series exploring the confluence of nanotechnology and water. This event will introduce the Nanotechnology Signature Initiative (NSI): Water Sustainability through Nanotechnology and highlight the activities of several participating Federal agencies. …

The NNI event page for the Water Sustainability through Nanotechnology webinar provides more detail,

Panelists include Nora Savage (National Science Foundation), Daniel Barta (National Aeronautics and Space Adminstration), Paul Shapiro (U.S. Environmental Protection Agency), Jim Dobrowolski (USDA National Institute of Food and Agriculture), and Hongda Chen (USDA National Institute of Food and Agriculture).

Webinar viewers will be able to submit questions for the panelists to answer during the Q&A period. Submitted questions will be considered in the order received and may be posted on the NNI website. A moderator will identify relevant questions and pose them to the speakers. Due to time constraints, not all questions may be addressed during the webinar. The moderator reserves the right to group similar questions and to skip questions, as appropriate.

There will be more in this series according to the webinar event page,

  • Increase water availability.
  • Improve the efficiency of water delivery and use.
  • Enable next-generation water monitoring systems.

You can register here to participate.

The NNI has a webpage dedicated to Water Sustainability through Nanotechnology: Nanoscale solutions for a Global-Scale Challenge, which explains their perspective on the matter,

Water is essential to all life, and its significance bridges many critical areas for society: food, energy, security, and the environment. Projected population growth in the coming decades and associated increases in demands for water exacerbate the mounting pressure to address water sustainability. Yet, only 2.5% of the world’s water is fresh water, and some of the most severe impacts of climate change are on our country’s water resources. For example, in 2012, droughts affected about two-thirds of the continental United States, impacting water supplies, tourism, transportation, energy, and fisheries – costing the agricultural sector alone $30 billion. In addition, the ground water in many of the Nation’s aquifers is being depleted at unsustainable rates, which necessitates drilling ever deeper to tap groundwater resources. Finally, water infrastructure is a critically important but sometimes overlooked aspect of water treatment and distribution. Both technological and sociopolitical solutions are required to address these problems.

The text also goes on to describe how nanotechnology could  assist with this challenge.

Brown University (US) gets big bucks to study effect on nanomaterials on human health

In over seven years of blogging about nanotechnology, this is the most active funding period for health and environmental effects impacts I’ve seen yet. A Sept. 26, 2015 news item on Azonano features another such grant,

With a new federal grant of nearly $10.8 million over the next five years, Brown University researchers and students in the Superfund Research Program (SRP) will be able to advance their work studying how toxicant exposures affect health, how such exposures occur, how nanotechnologies could contain contamination, and how to make sure those technologies are safe.

A Sept. 24, 2015 Brown University news release, which originated the news item, describes of Brown’s SRP work already underway and how this new grant will support it,

“There is more research to be performed,” said Kim Boekelheide, program director, professor of pathology and laboratory medicine, and fellow of the Institute at Brown for Environment and Society (IBES). “Our scientific theme is integrated biomedical and engineering solutions to regulatory uncertainty, using interdisciplinary approaches to attack the really difficult contamination problems that matter.”

The program is pursuing four integrated projects. In one led by Boekelheide, a team is looking at the physiological effects of exposure to toxicants like trichloroethylene on the male reproductive system. In particular he hopes to find the subtle differences in biomolecular markers in sperm that could allow for very early detection of exposure. Meanwhile in another line of research, Eric Suuberg, professor of engineering, is studying how vapors from toxic material releases can re-emerge from the soil entering into buildings built at or near the polluted sites — and why it is hard to predict the level of exposure that inhabitants of these buildings may suffer.

In another project, Robert Hurt, an IBES fellow, SRP co-primary investigator and professor of engineering, is studying how graphene, an atomically thin carbon material, can be used to block the release and transport of toxicants to prevent human exposures. Hurt is also collaborating with Agnes Kane, an IBES fellow and chair and professor of pathology and laboratory medicine, who is leading a study of nanomaterial effects on human health, so they can be designed and used safely in environmental and other applications.

The program will also continue the program’s community outreach efforts in which they work and share information with communities near the state’s Superfund-designated and Brownfield contaminated sites. Scott Frickel, an IBES fellow and associate professor of sociology, is the new leader of community engagement. The program also includes a research translation core in which researchers share their findings and expertise with the U.S. Environmental Protection Agency, state agencies, and professionals involved in contamination management and cleanup. A training core provides opportunities for interdisciplinary research, field work, and industry “externships” for graduate students in engineering, pathobiology, and social sciences at Brown.

It’s good to see they are integrating social sciences into this project although I hope they aren’t attempting this move as a means to coopt and/or stifle genuine dissent and disagreement by giving a superficial nod to the social sciences and public engagement  while wending on their merry way.

Nanomaterials and safety: Europe’s non-governmental agencies make recommendations; (US) Arizona State University initiative; and Japan’s voluntary carbon nanotube management

I have three news items which have one thing in common, they concern nanomaterials and safety. Two of these of items are fairly recent; the one about Japan has been sitting in my drafts folder for months and I’m including it here because if I don’t do it now, I never will.

First, there’s an April 7, 2014 news item on Nanowerk (h/t) about European non-governmental agencies (CIEL; the Center for International Environmental Law and its partners) and their recommendations regarding nanomaterials and safety. From the CIEL April 2014 news release,

CIEL and European partners* publish position paper on the regulation of nanomaterials at a meeting of EU competent authorities

*ClientEarth, The European Environmental Bureau, European citizen’s Organization for Standardisation, The European consumer voice in Standardisation –ANEC, and Health Care Without Harm, Bureau of European Consumers

… Current EU legislation does not guarantee that all nanomaterials on the market are safe by being assessed separately from the bulk form of the substance. Therefore, we ask the European Commission to come forward with concrete proposals for a comprehensive revision of the existing legal framework addressing the potential risks of nanomaterials.

1. Nanomaterials are different from other substances.

We are concerned that EU law does not take account of the fact that nano forms of a substance are different and have different intrinsic properties from their bulk counterpart. Therefore, we call for this principle to be explicitly established in the REACH, and Classification Labeling and Packaging (CLP) regulations, as well as in all other relevant legislation. To ensure adequate consideration, the submission of comprehensive substance identity and characterization data for all nanomaterials on the market, as defined by the Commission’s proposal for a nanomaterial definition, should be required.

Similarly, we call on the European Commission and EU Member States to ensure that nanomaterials do not benefit from the delays granted under REACH to phase-in substances, on the basis of information collected on their bulk form.

Further, nanomaterials, due to their properties, are generally much more reactive than their bulk counterpart, thereby increasing the risk of harmful impact of nanomaterials compared to an equivalent mass of bulk material. Therefore, the present REACH thresholds for the registration of nanomaterials should be lowered.

Before 2018, all nanomaterials on the market produced in amounts of over 10kg/year must be registered with ECHA on the basis of a full registration dossier specific to the nanoform.

2. Risk from nanomaterials must be assessed

Six years after the entry into force of the REACH registration requirements, only nine substances have been registered as nanomaterials despite the much wider number of substances already on the EU market, as demonstrated by existing inventories. Furthermore, the poor quality of those few nano registration dossiers does not enable their risks to be properly assessed. To confirm the conclusions of the Commission’s nano regulatory review assuming that not all nanomaterials are toxic, relevant EU legislation should be amended to ensure that all nanomaterials are adequately assessed for their hazardous properties.

Given the concerns about novel properties of nanomaterials, under REACH, all registration dossiers of nanomaterials must include a chemical safety assessment and must comply with the same information submission requirements currently required for substances classified as Carcinogenic, Mutagenic or Reprotoxic (CMRs).

3. Nanomaterials should be thoroughly evaluated

Pending the thorough risk assessment of nanomaterials demonstrated by comprehensive and up-to-date registration dossiers for all nanoforms on the market, we call on ECHA to systematically check compliance for all nanoforms, as well as check the compliance of all dossiers which, due to uncertainties in the description of their identity and characterization, are suspected of including substances in the nanoform. Further, the Community Roling Action Plan (CoRAP) list should include all identified substances in the nanoform and evaluation should be carried out without delay.

4. Information on nanomaterials must be collected and disseminated

All EU citizens have the right to know which products contain nanomaterials as well as the right to know about their risks to health and environment and overall level of exposure. Given the uncertainties surrounding nanomaterials, the Commission must guarantee that members of the public are in a position to exercise their right to know and to make informed choices pending thorough risk assessments of nanomaterials on the market.

Therefore, a publicly accessible inventory of nanomaterials and consumer products containing nanomaterials must be established at European level. Moreover, specific nano-labelling or declaration requirements must be established for all nano-containing products (detergents, aerosols, sprays, paints, medical devices, etc.) in addition to those applicable to food, cosmetics and biocides which are required under existing obligations.

5. REACH enforcement activities should tackle nanomaterials

REACH’s fundamental principle of “no data, no market” should be thoroughly implemented. Therefore, nanomaterials that are on the market without a meaningful minimum set of data to allow the assessment of their hazards and risks should be denied market access through enforcement activities. In the meantime, we ask the EU Member States and manufacturers to use a precautionary approach in the assessment, production, use and disposal of nanomaterials

This comes on the heels of CIEL’s March 2014 news release announcing a new three-year joint project concerning nanomaterials and safety and responsible development,

Supported by the VELUX foundations, CIEL and ECOS (the European Citizen’s Organization for Standardization) are launching a three-year project aiming to ensure that risk assessment methodologies and risk management tools help guide regulators towards the adoption of a precaution-based regulatory framework for the responsible development of nanomaterials in the EU and beyond.

Together with our project partner the German Öko-Institut, CIEL and ECOS will participate in the work of the standardization organizations Comité Européen de Normalisation and International Standards Organization, and this work of the OECD [Organization for Economic Cooperation and Development], especially related to health, environmental and safety aspects of nanomaterials and exposure and risk assessment. We will translate progress into understandable information and issue policy recommendations to guide regulators and support environmental NGOs in their campaigns for the safe and sustainable production and use of nanomaterials.

The VILLUM FOUNDATION and the VELUX FOUNDATION are non-profit foundations created by Villum Kann Rasmussen, the founder of the VELUX Group and other entities in the VKR Group, whose mission it is to bring daylight, fresh air and a better environment into people’s everyday lives.

Meanwhile in the US, an April 6, 2014 news item on Nanowerk announces a new research network, based at Arizona State University (ASU), devoted to studying health and environmental risks of nanomaterials,

Arizona State University researchers will lead a multi-university project to aid industry in understanding and predicting the potential health and environmental risks from nanomaterials.

Nanoparticles, which are approximately 1 to 100 nanometers in size, are used in an increasing number of consumer products to provide texture, resiliency and, in some cases, antibacterial protection.

The U.S. Environmental Protection Agency (EPA) has awarded a grant of $5 million over the next four years to support the LCnano Network as part of the Life Cycle of Nanomaterials project, which will focus on helping to ensure the safety of nanomaterials throughout their life cycles – from the manufacture to the use and disposal of the products that contain these engineered materials.

An April 1, 2014 ASU news release, which originated the news item, provides more details and includes information about project partners which I’m happy to note include nanoHUB and the Nanoscale Informal Science Education Network (NISENet) in addition to the other universities,

Paul Westerhoff is the LCnano Network director, as well as the associate dean of research for ASU’s Ira A. Fulton Schools of Engineering and a professor in the School of Sustainable Engineering and the Built Environment.

The project will team engineers, chemists, toxicologists and social scientists from ASU, Johns Hopkins, Duke, Carnegie Mellon, Purdue, Yale, Oregon’s state universities, the Colorado School of Mines and the University of Illinois-Chicago.

Engineered nanomaterials of silver, titanium, silica and carbon are among the most commonly used. They are dispersed in common liquids and food products, embedded in the polymers from which many products are made and attached to textiles, including clothing.

Nanomaterials provide clear benefits for many products, Westerhoff says, but there remains “a big knowledge gap” about how, or if, nanomaterials are released from consumer products into the environment as they move through their life cycles, eventually ending up in soils and water systems.

“We hope to help industry make sure that the kinds of products that engineered nanomaterials enable them to create are safe for the environment,” Westerhoff says.

“We will develop molecular-level fundamental theories to ensure the manufacturing processes for these products is safer,” he explains, “and provide databases of measurements of the properties and behavior of nanomaterials before, during and after their use in consumer products.”

Among the bigger questions the LCnano Network will investigate are whether nanomaterials can become toxic through exposure to other materials or the biological environs they come in contact with over the course of their life cycles, Westerhoff says.

The researchers will collaborate with industry – both large and small companies – and government laboratories to find ways of reducing such uncertainties.

Among the objectives is to provide a framework for product design and manufacturing that preserves the commercial value of the products using nanomaterials, but minimizes potentially adverse environmental and health hazards.

In pursuing that goal, the network team will also be developing technologies to better detect and predict potential nanomaterial impacts.

Beyond that, the LCnano Network also plans to increase awareness about efforts to protect public safety as engineered nanomaterials in products become more prevalent.

The grant will enable the project team to develop educational programs, including a museum exhibit about nanomaterials based on the LCnano Network project. The exhibit will be deployed through a partnership with the Arizona Science Center and researchers who have worked with the Nanoscale Informal Science Education Network.

The team also plans to make information about its research progress available on the nanotechnology industry website Nanohub.org.

“We hope to use Nanohub both as an internal virtual networking tool for the research team, and as a portal to post the outcomes and products of our research for public access,” Westerhoff says.

The grant will also support the participation of graduate students in the Science Outside the Lab program, which educates students on how science and engineering research can help shape public policy.

Other ASU faculty members involved in the LCnano Network project are:

• Pierre Herckes, associate professor, Department of Chemistry and Biochemistry, College of Liberal Arts and Sciences
• Kiril Hristovski, assistant professor, Department of Engineering, College of Technology and Innovation
• Thomas Seager, associate professor, School of Sustainable Engineering and the Built Environment
• David Guston, professor and director, Consortium for Science, Policy and Outcomes
• Ira Bennett, assistant research professor, Consortium for Science, Policy and Outcomes
• Jameson Wetmore, associate professor, Consortium for Science, Policy and Outcomes, and School of Human Evolution and Social Change

I hope to hear more about the LCnano Network as it progresses.

Finally, there was this Nov. 12, 2013 news item on Nanowerk about instituting  voluntary safety protocols for carbon nanotubes in Japan,

Technology Research Association for Single Wall Carbon Nanotubes (TASC)—a consortium of nine companies and the National Institute of Advanced Industrial Science and Technology (AIST) — is developing voluntary safety management techniques for carbon nanotubes (CNTs) under the project (no. P10024) “Innovative carbon nanotubes composite materials project toward achieving a low-carbon society,” which is sponsored by the New Energy and Industrial Technology Development Organization (NEDO).

Lynn Bergeson’s Nov. 15, 2013 posting on nanotech.lawbc.com provides a few more details abut the TASC/AIST carbon nanotube project (Note: A link has been removed),

Japan’s National Institute of Advanced Industrial Science and Technology (AIST) announced in October 2013 a voluntary guidance document on measuring airborne carbon nanotubes (CNT) in workplaces. … The guidance summarizes the available practical methods for measuring airborne CNTs:  (1) on-line aerosol measurement; (2) off-line quantitative analysis (e.g., thermal carbon analysis); and (3) sample collection for electron microscope observation. …

You can  download two protocol documents (Guide to measuring airborne carbon nanotubes in workplaces and/or The protocols of preparation, characterization and in vitro cell based assays for safety testing of carbon nanotubes), another has been published since Nov. 2013, from the AIST’s Developing voluntary safety management techniques for carbon nanotubes (CNTs): Protocol and Guide webpage., Both documents are also available in Japanese and you can link to the Japanese language version of the site from the webpage.

Vive Crop Protection receives approval for flowable bifenthrin insecticide

Toronto, Canada-based Vive Crop Protection (aka Vive Nano), has announced approval for their VCP-01, Bifenthrin 10 DF insecticide from the US Environmental Protection Agency (EPA). From the Aug. 6, 2013 news release,

Vive Crop Protection (Vive), a leading provider of effective and environmentally responsible crop protection products, announced today that the U.S. Environmental Protection Agency (EPA) has approved VCP-01, Bifenthrin 10 DF insecticide for foliar use on a variety of crops, turf and ornamentals.  This is Vive’s first product registration with the EPA.

VCP-01 is the first registration using Allosperse®, a proprietary polymer-based delivery system delivering maximum initial knockdown which allows the longest retreatment intervals.  VCP-01 with Allosperse is a water-dispersible formulation with no organic solvents.  Allosperse polymers are UV resistant to protect the formulation on the leaf surface for maximum effective insect control.

Always use all pesticide products with care.   Read and follow all label directions.

I have written about Vive before, most recently on the occasion of the company’s name change in a Nov. 28, 2011 posting. Here’s the latest description the company has for itself and its products, from the Vive Crop Protection homepage,

The global population is growing and food production must increase. How do you get more output from less land?

Better crop protection products.

At Vive, we make products that better protect crops from pests. Our patented Allosperse® delivery system not only makes crop protection products more effective, it also helps to reduce their environmental impact.

Products made with Allosperse coat plants more evenly, which provides better crop protection and leads to increased yields.

Allosperse protects products from UV damage, helping them last longer. Longer lasting, more effective products mean a farmer doesn’t have to spray his or her fields as often.

Allosperse is a water-dispersible delivery system, meaning that our formulations are made without solvents. Solvent-free formulations are easier to work with and are safer for the applicator and the environment.

Vive is working with partners across the globe that share our vision of bringing safer, more effective crop protection products to growers everywhere.

The company doesn’t offer descriptions of its products but you can find information about its Allosperse® delivery system here.

Inaugural workshop using *nanomaterials for environmental remediation being held in Louisiana

Participants at the Nano-4-Rem (nanomaterials for environmental remediation) aNsseRS workshop will be visiting the Southeastern Louisiana University in Hammond in early June 2013. From the Nov.  6, 2012 news item on Nanowerk,

An inaugural workshop on the safe use of nanomaterials in environmental remediation will be held at Southeastern Louisiana University June 5-7, 2013.

With increased use of nanotechnology and nanomaterials in the cleanup of hazardous sites, there is now a growing body of evidence that exposure to these materials may have adverse health effects, said conference organizer Ephraim Massawe, assistant professor of occupational safety, health and environment.

“The applications and results of nano-enabled strategies and methods for environmental remediation are increasingly promising,” Massawe said. “The challenge is ensuring that such applications are both safe and sustainable.”

There is more information on Southeastern Louisiana University’s Nano-4-Rem aNsseRS webpage,

Background: Groundwater or soil contamination is present at most Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA) and Resource Conservation and Recovery Act (RCRA) corrective action sites. Traditional technologies, such as pump-and-treat (P&T) and permeable reactive barriers (PRBs), have been used for decades to remediate such sites. In recent years, remediation strategies involving engineered nanoparticles (ENPs) such as zero-valent iron and titanium dioxide have been demonstrated as viable time-saving and cost-effective alternatives to traditional remediation. In addition, advances in nanotechnology-enabled assessment and monitoring methods such as nano-sensors may support more extensive, reliable, and cost effective assessment and management of remediation activities.

At the same time that applications of nano-enabled strategies and methods for environmental remediation are increasingly promising, there is a growing body of evidence linking exposure to certain nanomaterials with adverse health effects in animals at the laboratory scale. The challenge is to ensure that such applications are both safe and sustainable. …

Workshop Objectives: This is the first national workshop that provides an opportunity for representatives from the environmental remediation community, industry, academia, and government to:

  • Share their perspectives, pose questions, and develop ideas for design of good guidelines, selection criteria, and work practices to support safe and sustainable nano-enabled environmental remediation;
  • Become acquainted with other U.S. nanotechnology stakeholders, including vendors, transporters, and contractors of the remediation sites and communities; and
  • Share case studies of nano-enhanced clean up technologies, including selection criteria for alternative remediation strategies and methods, job planning, job tasks, and nanomaterial handling practices.

Furthermore, in the context of nanoinformatics (Nanoinformatics 2020 Roadmap), the workshop will present:

  • Occupational and environmental regulatory issues as they relate to remediation, synthesis and characterization, and application of nanoinformatics for safe and sustainable use of nanomaterials during remediation;
  • Fate and transport of nanomaterials during and after remediation;
  • Risks, including contributions from both toxicological properties of nanomaterials (hazard) and potentials for occupational and environmental exposure, where hazard x exposure = risk;
  • Results of the recent nanoinformatics survey of state agencies and programs described on the workshop website; and
  • Opportunities for developing and sustaining continuing advances and collaborations.

Call for Presenters and Deadlines: Participants are invited from the industry; site contractors, nanomaterial vendors; laboratories that synthesize and characterize ENPs for environmental remediation; regulatory authorities (local, state, and federal government) and academia (faculty and students). Presenters should submit titles and abstracts for podium or poster presentations by December 14, 2012. The workshop or program schedule will be finalized by February 20, 2013. Event date: June 5-7, 2013. Students are encouraged to submit proposals for podium or poster presentations. “Best student” poster and presentation awards will be given. Information about this workshop can also be found at http://cluin.org [a US Environmental Protection Agency ‘office’].

The Nov. 7, 2012 news release from Southeastern Louisiana University which originated the news item (Nanowerk seems to have posted the item before the release was posted on the university website) provides more detail,

The event, “Nano-4-Rem-Anssers 2013: Applications of Nanotechnology for Safe and Sustainable Environmental Remediations,” is one of the first of its kind in the Southeast which has been designed to provide an opportunity for involved parties to share perspectives, pose questions and develop ideas for generating solid guidelines for best work practices that support safe and sustainable nano-enabled environmental remediation.

Southeastern is sponsoring the event with other agencies and institutions, including the U.S. Environmental Protection Agency (EPA), the National Institute of Safety and Health (NIOSH), the Occupational Safety and Health Administration (OSHA) and in conjunction with the National Nanotechnology Coordination Office (NNCO).

The program will include case studies of nano-enhanced clean up technologies, including selection criteria for alternative remediation strategies and methods, job planning and tasks, and safe material handling practices. Other issues to be discussed are updates of toxicity studies, fate and transport of nanoparticules [the French word for nanoparticles is nanoparticules ..  this seems an unusual choice for a news release from a US university but Louisiana was French at one time, so perhaps there’s a desire to retain a linguistic link?]  in soils and groundwater, and nanoinformatics.

I have written about nanoremediation before. Here are a few of the latest,

Nanoremediation techniques from Iran and from South Carolina

Canadian soil remediation expert in Australia

Phyto and nano soil remediation (part 2: nano)

* ‘nanotechnolmaterials corrected to ‘nanomaterials’ on Sept. 23, 2013.