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Approximately 500,000,000 pounds/year used in U.S. Industrial, Institutional and Domestic Surfactants Antioxidant in Plastics PVC Stabilizer Oil Additives Oil Field Recovery Metal Extractants. Alkylphenol Compounds How Are They Used ?. Alkylphenolpolyethoxylates (APEs). Degradation productsExtremely toxic to aquatic organismsWill probably be the regulatory end pointEndocrine disruption to aquatic organismsTo date water quality standards have not addressed this.
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1. Regional Case Study of Alkylphenol Ethoxylates1 Region 5 US EPA
Al Alwan, George Azevedo, John Dorkin, Dan Hopkins, Peter Howe, Bryan Nielsen, Mari Nord, Rob Pepin, Robert L. Thompson, Marc Tuchman, Dennis Wesolowski, Larry Zintek
3. Alkylphenolpolyethoxylates(APEs) Degradation products
Extremely toxic to aquatic organisms
Will probably be the regulatory end point
Endocrine disruption to aquatic organisms
To date water quality standards have not addressed this
4. Common Environmental Metabolites of Nonylphenol Ethoxylates (Adapted from Ahel et al., 1994; Naylor, 1992)
5. DAILY ENVIRONMENT
6. Canadian Environmental Protection Act (CEPA)Priority Substance List Assessment ReportNonylphenol and Its Ethoxylates It is proposed that NP and its ethoxylates be considered toxic as defined in Section 64 of the CEPA.
7. Brief APE Literature Review(Slightly Biased)
8. NP Bioconcentration Factors Bluegill 220
Fathead Minnow 271
Fathead Minnow 293
9. Depuration Half-Life (Hours) Gammerus pulex 38
Killifish 9
Mussels 7
Salmon 96
10. NP Aquatic Criteria Document (draft March 2003) Freshwater
Chronic criterion : 5.9 ppb
Acute criterion : 27.9 ppb
Saltwater
Chronic criterion : 1.4 ppb
Acute criterion : 6.7 ppb
11. Canadian Risk Assessment Based on cumulative toxicity of all APEs
Estimated toxicity of NP1EO and NP2EO at half that for NP
Recognized endocrine disruption but was not the major regulatory end point
Apparently APEs will be controlled through mandatory pollution prevention
12. Japanese killifish chart
13. Additional ORD / Region 5 Activities ORD provided funds for Region 5 Central Regional Laboratory to conduct acute toxicity testing on NP1EO and NP2EO to develop TEQ for aquatic toxicity
QAPP under development
14. British Streams Summary(Johnson and Sumpter 2001) Hypothesized Endocrine Disruption Effects in Fish Outside Immediate Discharge Due Primarily to:
17 a-ethinylestradiol (EE2)
Major Issue is How Far Downstream EE2 Persists
Alkylphenols
15. Biomarkers for Endocrine Disruption (ED) in Fish Decrease or cessation of egg production
Imposex
Oocytes in testes
Vitellogenin (VTG) - Egg yolk protein formed primarily in female fish
Produced by liver in response to estrogen
Males can produce if exposed to estrogen or estrogen mimics
NP exposure known to cause all of these effects
Relevance to population effects needs to be addressed
16. NP Endocrine Disruption in Fathead Minnows Miles-Richardson et al. (1999)
NOAEL estimated from effects on endocrine disruption six fold less than standard chronic toxicity for early life stage of fathead minnow
Question biological relevance of endocrine disruption to fish populations
Acknowledged that risk assessment does not include APEs other than NP
17. Other Considerations Related to Endocrine Disruption in Effluent Dominated Streams Hormones are another major factor
18. Effects of Exposure to 17 -estradiol Effects of Exposure to 17 -estradiol (E2) to Male Fathead Minnows1
Threshold for histologic changes in testes = ~ 0.04 ppt
Threshold for vitellogenin induction = ~ 0.04 ppt 1(Miles-Richardson et al., 1999)
Effluent Concentrations2
17 -estradiol effluent concentrations at four Michigan STPs
Average = 1.5 ppt ( range = nd 3.7 ppt ) 2(Snyder et al., 1999)
19. Relative Potencies of Steroidal Estrogens in Fish (Thorpe et al., 2003) VTG induction in 14 day exposure to juvenile female rainbow trout
EE2 > E2 > E1 (Estrone)
20. Minneapolis Metro Plant Inconsistencies Male fish collected in effluent
Carp VTG increase and testosterone decrease (Folmar et al., 1996)
Walleye VTG increase and testosterone decrease (Folmar et al., 2000)
Laboratory Study
Goldfish, exposed to effluent samples for 10 weeks exhibited no change in testosterone. (Schoenfuss et al., 2002)
21. Metro Minneapolis Walleye APE Fish Tissue Concentrationsppm (g/g wet weight) NP = 0.2
NP1EO = 2.0
NP2EO = 3.1
NP3EO = 0.8
NP4EO = 0.1
NP5EO = 0.0
Total = 6.2
22. Fox River (Wisconsin) 1995 APEConcentrations (g/L)15 paper mill effluents ranked
23. Fox River (Wisconsin) 1995 APEConcentrations (g/L)6 POTWs ranked
24. Fox River APE Concentrations (g/L)(Upstream Green Bay WWTP)
25. Alkylphenol Effluent Concentrations (g/L) at 8 Large Region 5 POTW'sFebruary and March 1998 (Barber et al., 2000)
26. Environment Canada graph
27. Chicago Waterways
28. Major Chicago WTPs Flow
29. Estimated Percent of Daily Flow at Lockport Due to Combined Effluent Flow From MWRGDC WRPs in 2002
30. Chicago Waterway 7 Day average Flows and Total Precipitation
31. Region 5 CRL APEs Method Initiative
32. Chicago Waterways
33. Chicago Waterways
34. North Branch Chicago River Alkylphenol Sediment Concentrations (PPM)
35. Average Concentration of NP and NPEs in Carp from North Branch Chicago River1
36. National Pollution Discharge Elimination System (NPDES) Permits Water Quality Based Effluent Limits (WQBEL)
Controls traditional toxics
Question whether WQBELs facilitate full recovery of large effluent dominated streams
37. MWRDGC and Region 5 Central Regional Laboratory Toxicity Testing Cooperative Whole Effluent Toxicity (WET) testing at 3 major WRPs
To date no chronic toxicity
Region 5 Chicago Waterways toxicity testing at Lockport
To date no chronic toxicity
38. MWRDGC Stream Quality graph
39. Other Contributing Factors Combined Sewer Overflows
Contaminated sediments
Barge traffic
Habitat limitations
40. Conclusions Widespread APE occurrence in Region 5 water, sediment and fish tissue
Appears that some effluents may exceed proposed water quality criteria for NP
Region 5 Central Regional Laboratory has SOP for NP, NP1EO and NP2EO
Region 5 developing TEQ for NP, NP1EO and NP2EO to account for the toxicity of ethoxylates
Consideration should be given to phasing out APEs in US due to increased cost associated with removing from POTW effluents