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| title | chunk | source | category | tags | date_saved | instance |
|---|---|---|---|---|---|---|
| Regulation of nanotechnology | 5/6 | https://en.wikipedia.org/wiki/Regulation_of_nanotechnology | reference | science, encyclopedia | 2026-05-05T04:27:37.701684+00:00 | kb-cron |
=== United States === Rather than adopt a new nano-specific regulatory framework, the United States' Food and Drug Administration (FDA) convenes an 'interest group' each quarter with representatives of FDA centers that have responsibility for assessment and regulation of different substances and products. This interest group ensures coordination and communication. A September 2009 FDA document called for identifying sources of nanomaterials, how they move in the environment, the problems they might cause for people, animals and plants, and how these problems could be avoided or mitigated. The Bush administration in 2007 decided that no special regulations or labeling of nanoparticles were required. Critics derided this as treating consumers like a "guinea pig" without sufficient notice due to lack of labelling. Berkeley, CA is currently the only city in the United States to regulate nanotechnology. Cambridge, MA in 2008 considered enacting a similar law, but the committee it instituted to study the issue Cambridge recommended against regulation in its final report, recommending instead other steps to facilitate information-gathering about potential effects of nanomaterials. On December 10, 2008 the U.S. National Research Council released a report calling for more regulation of nanotechnology.
==== California ==== Assembly Bill (AB) 289 (2006) authorizes the Department of Toxic Substances Control (DTSC) within the California Environmental Protection Agency and other agencies to request information on environmental and health impacts from chemical manufacturers and importers, including testing techniques.
=== California === In October 2008, the Department of Toxic Substances Control (DTSC), within the California Environmental Protection Agency, announced its intent to request information regarding analytical test methods, fate and transport in the environment, and other relevant information from manufacturers of carbon nanotubes. DTSC is exercising its authority under the California Health and Safety Code, Chapter 699, sections 57018-57020. These sections were added as a result of the adoption of Assembly Bill AB 289 (2006). They are intended to make information on the fate and transport, detection and analysis, and other information on chemicals more available. The law places the responsibility to provide this information to the Department on those who manufacture or import the chemicals. On January 22, 2009, a formal information request letter was sent to manufacturers who produce or import carbon nanotubes in California, or who may export carbon nanotubes into the State. This letter constitutes the first formal implementation of the authorities placed into statute by AB 289 and is directed to manufacturers of carbon nanotubes, both industry and academia within the State, and to manufacturers outside California who export carbon nanotubes to California. This request for information must be met by the manufacturers within one year. DTSC is waiting for the upcoming January 22, 2010 deadline for responses to the data call-in. The California Nano Industry Network and DTSC hosted a full-day symposium on November 16, 2009 in Sacramento, CA. This symposium provided an opportunity to hear from nanotechnology industry experts and discuss future regulatory considerations in California. On December 21, 2010, the Department of Toxic Substances Control (DTSC) initiated the second Chemical Information Call-in for six nanomaterials: nano cerium oxide, nano silver, nano titanium dioxide, nano zero valent iron, nano zinc oxide, and quantum dots. DTSC sent a formal information request letter to forty manufacturers who produce or import the six nanomaterials in California, or who may export them into the State. The Chemical Information Call-in is meant to identify information gaps of these six nanomaterials and to develop further knowledge of their analytical test methods, fate and transport in the environment, and other relevant information under California Health and Safety Code, Chapter 699, sections 57018-57020. DTSC completed the carbon nanotube information call-in in June 2010. DTSC partners with University of California, Los Angeles (UCLA), Santa Barbara (UCSB), and Riverside (UCR), University of Southern California (USC), Stanford University, Center for Environmental Implications of Nanotechnology (CEIN), and The National Institute for Occupational Safety and Health (NIOSH) on safe nanomaterial handling practices. DTSC is interested in expanding the Chemical Information Call-in to members of the brominated flame retardants, members of the methyl siloxanes, ocean plastics, nano-clay, and other emerging chemicals.
=== European Union === The European Union has formed a group to study the implications of nanotechnology called the Scientific Committee on Emerging and Newly Identified Health Risks which has published a list of risks associated with nanoparticles. Consequently, manufacturers and importers of carbon products, including carbon nano-tubes will have to submit full health and safety data within a year or so in order to comply with REACH. A number of European member states have called for the creation of either national or European nanomaterials registries. France, Belgium, Sweden, and Denmark have established national registries of nanomaterials. In addition, the European Commission requested the Europeach Chemicals Agency (ECHA) to create a European Union Observatory for Nanomaterials (EUON) that aims at collecting publicly available information on the safety and markets of nanomaterials and nanotechnology.
== Response from advocacy groups == In January 2008, a coalition of over 40 civil society groups endorsed a statement of principles calling for precautionary action related to nanotechnology. The coalition called for strong, comprehensive oversight of the new technology and its products in the International Center for Technology Assessment's report Principles for the Oversight of Nanotechnologies and Nano materials, which states: