NYC 9/11 Public Portal Document
take safety precautions. This agreement is detailed on page 9 of the draft report and
illustrated in Appendix P.
We do not agree that EPA “emphasized” the need for professional cleaning because
this concept was not discussed in EPA’s press releases. According to the OCEMR
Associate Administrator, a recommendation to obtain professional cleaning was
deleted from an EPA press release by a CEQ official. As detailed in the draft report,
EPA’s press releases referred the public to a New York City Department of Health
web site which recommended that people clean their own residences and businesses
using wet rags, wet mops, and HEPA vacuums.
Note 7 - We do not believe that “The Report erroneously focuses” on five early Agency press
releases. We reviewed many different types of information from many different
sources including videocassettes which were provided by Region 2. We made
extensive efforts to locate all relevant records. For example, by contacting the
Administrator’s Press Secretary and Scheduling Director, we were able to determine
the date of a videotaped newscast which showed the Administrator advising the
public orally about obtaining professional cleaning on October 26,2001. Similarly,
we worked closely with Region 2 officials and agreed with their analysis that EPA’s
web site recommended professional cleaning at least as early as December 11, 2001.
In summary, although EPA’s subsequent communications sometimes added
information or clarification to the message presented in the press releases, the
Agency’s overall message of reassurance about long-term health impacts did not
change.
In regard to the comment in the response to the draft report about EPA’s “massive
outreach program,” we note, as detailed in the draft report, that a NYCDOH study,
other lessons learned reports, and testimony provided at various hearings indicated
that the public did not receive adequate air quality information and that individuals
cleaned their residences without using proper procedures or personal protection.
Note 8 - We agree there were no health-based standards for many of the pollutants encountered
in the aftermath of the WTC attacks, and the report does not intend to find fault with
EPA or any other government organization for not having developed those
benchmarks beforehand. However, we do not agree with using certain criteria-based
benchmarks - particularly the NESHAP asbestos-containing material definition of
one percent asbestos - as health-related benchmarks when environmental
professionals clearly acknowledge that this standard is not protective of health.
Note 9 - The Agency is to be commended for its proactive approach to analyzing its response
to the WTC collapse and initiating improvements to its emergency response
capabilities. We disagree with the Agency’s comment that this report “trivializes both
the horrendous event that occurred and the extraordinary efforts of EPA and other
responders.” The primary objective of the report is to ensure that, if such a tragedy
were to happen again; the public and emergency responders impacted by the disaster
would receive the best available advice, protection, and assistance that the
Government can provide.
133 Report No. 2003-P-00012
NYC-WTC_000145488
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