From 2020Science.org:
Twelve months ago today I held a bag of multi-walled carbon nanotubes up
before a hearing of the U.S. House Science Committee. I wanted to
emphasize the discrepancy between the current state of the science on
carbon nanotubes, and a tendency to classify this substance as the
relatively benign material graphite from a safety perspective. So it
is perhaps fitting that on the anniversary of that congressional
hearing, the US Environmental Protection Agency is making it clear that
carbon nanotubes are in fact, a new substance—and should be regulated as such.
Carbon nanotubes are often described as sheets of graphite—the stuff
that makes pencil lead black—wrapped into a tube; leading to
nanometre-thin “fibres” that are incredibly strong for their weight,
and highly conducting—thermally as well as electrically. But perhaps
because of this simple imagery, they are often handled as if they are
graphite—especially when it comes to using them safely.
Given the amount of time and money researchers and industry are
pouring into producing and using carbon nanotubes, you would think that
they are at least marginally different from their flat-sheeted
cousins. In fact the differences are anything but marginal: Wrapping
the sheets associated with graphite into tubes radically changes the
physical chemical and biological properties of these carbon-based
materials—just like re-arranging the carbon atoms that make up soot
into diamonds leads to the formation of a fundamentally different
material.
Yet many companies continue to persist in claiming “it’s just
graphite” when questions arise over the possible health impacts of
being exposed to carbon nanotubes.
But all that is about to change. Hot on the heels of clarification from the European Commission
that carbon nanotubes (and other novel forms of carbon) need to be
registered under the new REACH chemicals regulations, the US EPA has
clarified their position on the material. According to a just-released notice in the Federal Register, the EPA
“generally considers [carbon nanotubes] to be chemical
substances distinct from graphite or other allotropes of carbon listed
on the TSCA Inventory.”
In effect, this means that any company wanting to manufacture or
import carbon nanotubes in the United States needs to submit a Pre
Manufacturing Notice (PMN) to the EPA—unless the material can be shown
to be on the Toxic Substances Control Act (TSCA) Chemical Substances
Inventory. And the chances of that are pretty slim—at present.
EPA actually established their position on carbon nanotubes back in
2007, in a document clarifying how the agency saw TSCA applying to
engineered nanomaterials [available here].
But the agency’s stance was so unclear that the Federal Register notice
clarifying the situation was felt necessary. In the words of the
notice just published:
“current pre-notice inquiries to the Agency and questions in public forums still indicate a lack of clarity on this issue.”
This is a significant step forward for the US EPA, and a very
welcome one. Research is continuing to show that some forms of carbon
nanotubes are potentially dangerous if inhaled in sufficient
quantities. Earlier this year, Craig Poland and colleagues
showed that long thin multiwalled carbon nanotubes are potentially able
to cause the disease mesothelioma if inhaled. And more recently Anna Shvedova and co-researchers confirmed that inhaled single walled carbon nanotubes can have a unique impact on the lungs of mice.
Neither of these studies suggests that carbon nanotubes behave
anything like graphite if they get into the lungs. Yet companies
persist with treating this material like graphite.
I’ve previously noted that carbon nanotube distribution companies like CheapTubes Inc. consider all forms of the material as being like graphite for health and safety purposes. In fact, as of October 31, the Materials Safety Data Sheet posted on the CheapTubes website noted of carbon nanotubes:
“This material is listed on the US Toxic Substances Control Act (TSCA) Inventory”
There is little doubt now that this is, in fact, not the case.
The EPA’s clarification will certainly help ensure that this
innovative material is used safely, and its full potential is realized
without causing undue harm. There are though, perhaps inevitably,
still some unresolved issues. These include various material use and
production quantity exemptions that could be used by some companies to
justify not applying TSCA to their nanotubes (see for instance the series of articles by Richard Denison
on TSCA and nanomaterials). But smart companies are realizing that
compliance is the best way to ensuring safe and sustainable
products—which is why a number of PMN’s for carbon nanotubes have
already been submitted to EPA (again, Richard Denison’s blog at the Environmental Defense Fund has useful comments on this point).
There are however two rather large flies in the ointment:
The EPA clarification doesn’t add anything to the question of where
many other engineered nanomaterials stand on the regulations front.
Carbon nanotubes are chemically distinct from other forms of carbon,
and so are easily defined under TSCA as news substances. But if you
take something like titanium dioxide or silver and form it into
nanoparticles, current regulations make no distinction between the nano
and non-nano forms of the material—even though research suggests the
nano-form may be more harmful.
Just as importantly, submitting a PMN for a specific type of carbon
nanotube material opens the way for that material being added to the
TSCA Chemical Substances Inventory. And once there, other companies
are free to make, use and sell the material. As Richard Denison writes,
“Once reviewed and placed on the TSCA Inventory, any
company can manufacture and use the nanomaterial without even having to
notify EPA it is doing so.” (unless EPA simultaneously issue a
Significant New Use Rule)
Yet researchers are only just beginning to discover what might make
different carbon nanotubes harmful, and how to avoid that harm. What
are the chances therefore of carbon nanotubes being added to the TSCA
inventory before we have a good handle on how to use them safely?
The bottom line here is that resolving the regulatory status of
carbon nanotubes is an important step forward. But there is still some
way to go before this material is regulated in a way that will
encourage innovation while preventing undue harm—whether to people or
the environment.
And while carbon nanotubes can perhaps leave the couch feeling a
little more confident about themselves, we shouldn’t forget that there
are still plenty of other materials out there that are suffering from a
nano-induced identity crisis.