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Chemical Assessments: Annual EPA Survey Inconsistent with Leading Practices in Program Management

GAO-21-156 Published: Dec 18, 2020. Publicly Released: Jan 19, 2021.
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Fast Facts

One of EPA's chemical assessment programs maintains a database of chemicals' toxicity and effects on human health. This information contributes to the development of policies and regulations.

EPA's IRIS Program has not produced timely chemical assessments, and most of its ongoing assessments have experienced delays. Although EPA began soliciting nominations in an annual survey, starting in December 2019, EPA didn't provide sufficient guidance on how to prioritize and submit nominations to meet user needs.

We recommended issuing guidance and criteria for nominating and selecting chemicals for assessment.

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Highlights

What GAO Found

The Environmental Protection Agency's (EPA) Integrated Risk Information System (IRIS) Program has not produced timely chemical assessments, and most of its 15 ongoing assessments have experienced delays. As we reported in March 2019, the IRIS Program has taken some actions to make the assessment process more transparent, such as increasing communication with EPA offices and releasing supporting documentation for review earlier in the draft development process, but the need for greater transparency in some steps of the assessment process remains. Specifically, the IRIS Program does not publicly announce when assessment drafts move to certain steps in their development process or announce reasons for delays in producing specific assessments. Without such information, stakeholders who may be able to help fill data and analytical gaps are unable to contribute. This could leave EPA without potential support that could help overcome delays.

Delays of Milestones by Quarter for a Selection of the Integrated Risk information System's Assessments in Development 2019 - 2024

Delays of Milestones by Quarter for a Selection of the Integrated Risk information System's Assessments in Development 2019 - 2024

In mid-2018, EPA's Office of Research and Development (ORD) instituted changes to the way it solicits nominations for chemical assessments prepared by the IRIS Program but did so without providing sufficient guidance or criteria, raising questions about its ability to meet EPA user needs. For example, ORD issued a new survey to EPA program and regional offices but did not provide them with guidance for selecting chemicals for nomination, and ORD did not make explicit the criteria it was using for selecting nominations to include in the IRIS Program's list of assessments in development. Furthermore, despite a significant decline in survey participation between 2018 and 2019, EPA did not indicate whether the agency has assessed the quality of information generated by the survey. Leading program management practices state that agency management should internally communicate the necessary, quality information to achieve the entity's objectives and should monitor and evaluate program activities. Without evaluating the quality of the information produced by the survey, ORD cannot know if the survey is achieving its intended purpose and whether ORD has the information necessary to meet user needs.

Why GAO Did This Study

EPA's IRIS Program prepares chemical toxicity assessments that contain EPA's scientific position on the potential human health effects of exposure to chemicals; at present, the IRIS database contains more than 570 chemical assessments. In March 2019, GAO reported on the IRIS Program's changes to increase transparency about its processes and methodologies, including the use of systematic review. However, GAO also found that EPA decreased the number of ongoing assessments in December 2018 from 22 to 13 and continued to face challenges in producing timely assessments.

This report evaluates (1) EPA's progress in completing IRIS chemical assessments since 2018; and (2) EPA's recent actions to manage the IRIS Program, and the extent to which these actions help the Program meet EPA user needs.

GAO reviewed and analyzed EPA documents and interviewed officials from EPA; GAO also selected three standards for program management, found commonalities among them, and compared ORD's management of the IRIS Program against these leading practices.

Recommendations

GAO is making five recommendations, including that EPA provide more information publicly about where chemical assessments are in the development process; and issue guidance for selecting chemicals for nomination and criteria for selecting nominations for assessment. EPA partially agreed with two of our recommendations and disagreed with the other three.

Recommendations for Executive Action

Agency Affected Recommendation Status Sort descending
Environmental Protection Agency
Priority Rec.
The Administrator of EPA should include in ORD's strategic plan (or subsidiary strategic plans) identification of EPA's universe of chemical assessment needs; how the IRIS Program is being resourced to meet user needs; and specific implementation steps that indicate how IRIS will achieve the plan's objectives, such as specific metrics to define progress in meeting user needs. (Recommendation 5)
Open
As of December 2023, this recommendation remains open. EPA told us in November 2023 that officials from EPA's Chemical and Pollutant Assessment Division (CPAD)-a part of the Office of Research and Development-were working to update their analysis of the resources needed to produce chemical assessments, including IRIS assessments and Provisional Peer-Reviewed Toxicity Values, for FY24. The original analysis, delivered in February 2023, examined budget and human capital resources allocated to CPAD for producing chemical assessments, including the skills and competencies needed to produce different types of assessments and the current staffing levels under each skill set. CPAD's analysis also examined the role of contractors and how they could assist agency staff in producing chemical assessments. The analysis concluded that CPAD is under-resourced and that the agency expects its assessment workload to continue to increase in coming years, thereby worsening the gap between what EPA offices need and what CPAD can produce. Based on feedback from GAO, CPAD is preparing an update to the FY23 analysis to meet the targets established in EPA's strategic action plans. We will re-evaluate the status of this recommendation after we receive and review CPAD's updated analysis and assess the extent to which EPA management used CPAD's analysis to balance its workload with available resources. This would also help to ensure that EPA, through CPAD, is better able to identify and meet user needs.
Environmental Protection Agency The Administrator should direct the Assistant Administrators of program offices and Regional Administrators to develop and make available guidance for chemical assessment nominations. Such guidance could include information such as how to select chemicals for IRIS assessment nomination or for high priority needs, criteria explaining how Assistant and Regional Administrators determine which nominations to support and which they may choose not to support, and how to document these decisions. (Recommendation 2)
Open
As of December 2023, this recommendation remains open. In November 2023, IRIS officials told us they are working to facilitate progress by EPA program and regional offices with the establishment of criteria and we await further evidence of such efforts. We will keep this recommendation open and monitor implementation efforts by program and regional offices.
Environmental Protection Agency The Administrator of EPA should direct the Office of Research and Development to continue evaluating the survey process used to solicit IRIS user needs and assess key elements, such as its purpose and timing, to facilitate the collection of quality information. (Recommendation 4)
Closed – Implemented
As of March 2022, this recommendation has been closed as implemented. In September 2021, IRIS officials told us they were assessing whether to move their formal survey process for nominations to every other year, to be more consistent with the frequency with which assessment needs of most EPA offices change. In March 2022, IRIS officials shared a draft memo to EPA offices stating that they anticipate moving the current annual survey to every other year beginning in fiscal year 2023; they are also testing a new app for collecting and retaining survey data so offices can see a history of nominations, re-nominate chemicals, and support nominations from another office. IRIS officials also said that they are continuing to have regular meetings with offices to ensure that more pressing needs are not missed and users do not need to wait for a formal survey to register need with IRIS. Based on these statements noting the change and the reasoning, and the ensuing memo from IRIS officials to ORD officials stating the same change in frequency of the survey, we are closing this recommendation as implemented.
Environmental Protection Agency
Priority Rec.
The Administrator should direct the Assistant Administrator of the Office of Research and Development to provide more information publicly about where chemical assessments are in the development process, including internal and external steps in the process, and changes to assessment milestones. (Recommendation 1)
Closed – Implemented
In October 2022 and February 2023, EPA provided information about changes made to the IRIS website and communication with EPA offices that satisfy the intent of this recommendation to provide more information about the status of chemical assessments in the development process. Specifically, EPA amended each individual chemical assessment webpage so that milestone names and dates match information in the IRIS Program Outlook. A new note on each chemical webpage also describes what the milestone information means, and includes a link to the IRIS Program Outlook. The "Quick Check" graphic on each chemical website has also been updated to include all seven steps in the IRIS assessment development process, including internal and external steps. Additionally, EPA provided GAO with documentation demonstrating how they communicate information to customers, including EPA program offices that request chemical assessments. This documentation indicated that at least twice a year, IRIS staff holds formal meetings with every requesting office at EPA to update them on assessment development progress generally, and on that office's requests specifically. According to EPA, these updates include alerting the offices to changes in assessment milestones, and reasons for the change, such as a shortage in staff resources. These communications include explanations regarding changes to assessment milestone dates that often reflect internal workforce deliberations. As a result, we believe that communicating that information internally to IRIS requesters and users meets the intent of this recommendation, and we are closing it as implemented.
Environmental Protection Agency
Priority Rec.
The Administrator should direct the Assistant Administrator of the Office of Research and Development to issue criteria for how chemical assessment nominations are selected for inclusion in the IRIS Program's list of assessments in development and provide quality information about such topics as defining high-priority chemicals, prioritizing assessment work, and determining the IRIS Program's capacity to undertake work. (Recommendation 3)
Closed – Implemented
As of March 2022, this recommendation has been closed as implemented. In June 2021, IRIS Program officials shared with internal EPA IRIS users six acceptance considerations (criteria) that were used to determine which of their March 2021 chemical assessment nominations to add to the IRIS workflow. As part of this process, IRIS officials also identified nominations that would be better served through a different ORD product (e.g. Provisional Peer-Reviewed Toxicity Value) and which they could not accept at this time. The six criteria include: (1) Urgency and public health impact of the nomination for EPA decision making; (2) Have pre-assessment materials already been developed? i.e., IRIS Assessment Plans or Protocols; (3) Size and complexity of evidence base; (is an IRIS assessment the most appropriate product?); (4) Does another health agency assessment exist (or is one in development)?; (5) Does another part of EPA have primary responsibility for conducting the assessment? (e.g., active pesticide); and (6) Resourcing (disciplinary experts, extramural funds) and collaboration opportunities. Since the IRIS Program has identified criteria, communicated with IRIS users about their application, and has demonstrated their use to prioritize future assessment work, we are closing this recommendation as implemented.

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