Framing Environmental Health Decision-Making: The Struggle over Cumulative Impacts Policy
Abstract
:1. Introduction
1.1. Cumulative Risk Policy Context
1.2. Cumulative Impacts in Maryland
1.3. Social Explanation for Environmental Controversies and Policy Problems
2. Methods
2.1. Data Collection
2.2. Data Analysis
3. Results
3.1. The Politics of Evidence: “The Science Isn’t Quite There Yet.”
The term cumulative impacts refer to the concept that individuals are exposed to a number of chemical and non-chemical stressors through the course of a day and a lifetime. As you breathe, you may be inhaling large amounts of particulate matter, pesticides, and ozone in addition to the oxygen you need to function. Those are the chemical stressors. You may also be dealing with financial stress, or difficulty with a pre-existing health condition, which also affects your ability to respond to additional stressors you may face. Those are the non-chemical stressors (Participant, Environmental Nonprofit Representative, oral testimony for SB0693).
There was some disagreement on the science and methodologies. We didn’t have a consistent agreed approach on how we’re measuring things, and the science behind it, and the real impact the legislation would actually have. If we go and do this, are we going to see the desired impacts that this legislation is claiming that it will help? (Participant, Business Representative)
- Bill opponents framed the absence of a standardized risk assessment approach as a lack of scientific evidence and measurement tools. They argued that insufficient data and analytical frameworks left them without the means to adequately make policy decisions on cumulative impacts, “I think that it’s difficult to write good legislation in the absence of good data and good techniques and methodology” (Participant, State Government Official).
There is a very good science on cumulative exposures and the impacts of cumulative exposures. What’s missing is really understanding what the magnitude of that impact...how to measure the impacts, and some of the things that are really complicated are how we can figure out for people who have this lifetime of exposures as well as socioeconomic stress, how to quantify all of that in a way that makes it possible to do what the bill is seeking to do (Participant, State Government Official, oral testimony for SB0693).
3.2. The Promise and Peril of Environmental Justice: “I Understand Clean Air, Clean Water, But We’ve Gotta Have Jobs”
I’m here because I see in my own community and the communities surrounding it a lack of environmental justice. I see new industry piled upon existing industry. I see new pollution in communities that are already overburdened. Tractor-trailers are constantly present on residential streets of our neighborhoods. They wake us in the morning, and they interrupt our sleep at night. They rumble past our houses, community center, and our new high school. They ruin our roads, and they spew pollution into our air. But this is not about the technical issues of cumulative impacts. It’s not even about diesel truck traffic per se. What it is about is public health and fairness. It’s about giving underserved communities a voice (Participant, Community Activist and member of the MDE Cumulative Impacts Workgroup, oral testimony for SB0398).
- The focus for bill proponents was on elevating distinctive community voices whenever possible in the policy making process. A community activist stated at the first hearing for the REDUCE Act, “Environmental justice calls for fair treatment, having a seat in the room within the decision making process” (Participant, Community-Based Organization Representative, oral testimony for HB0820). Several participants noted that communities often became aware of permit decisions only after they occurred:
That was one of the things we tried to do, and that bill figured out a trigger much earlier in the process for community outreach and engagement so communities can come to the table (Participant, Environmental Nonprofit Regional Director).
There’s poverty levels, and that’s where I think with cumulative impacts we struggle because there’s so many factors that contribute to people’s health. It’s whether you exercise, it’s what your diet is, it’s what your levels of stress are, it’s whether you smoke, your behavioral factors and things like that. And then on top of it you add some sort of environmental pollution…environmental pollution just icing on the cake to all these other things (Participant, State Government Official).
The lack of standards, if you look at the legislation, there’s no standards or criteria that [unclear] what this impact analysis would include. We have a lot of concerns about how long that type of analysis might take, what types of twists and turns it would take, the way it would undermine the predictability of going through the permit process which is very specific in nature, has very specific criteria directed at protecting the resource that’s being impacted or that is a part of the development process (Participant, Trade Association Representative, oral testimony for HB0820).
- Calls for increased community participation in the decision-making process were portrayed as redundant and burdensome on existing regulatory procedures:
There needs to be an opportunity for community input, that’s a legitimate issue, you’re going to build a brick factory in my backyard I ought to have an opportunity to at least know something about that, and voice my opposition if you’re going to discharge your affluent into my backyard. Okay, I understand that, but how many bites of the apple should those groups have an opportunity to take? Our point of view is too many opportunities, because every time you inject a lawsuit, that permitting process just stretches out and stretches out. That is a tactic of the environmental groups, and I’m not saying they’re bad human beings, but that’s a tactic of the environmental groups. I don’t think...we don’t think it serves the public as well as a more efficient process could (Participant, Trade Association Representative).
- Bill opponents also depicted the shift towards promoting community input and involvement as moving focus away from more “scientific” and “evidence-based” factors related to cumulative impacts such as environmental and health risks. A participant noted, “I think it’s an environmental justice bill, making communities that are nearby to these facilities much more aware of what’s coming in, but it doesn’t allow MDE to prevent these permits from being issued. It avoids those complex modeling and evidence and data that you had cited for cumulative impacts, so I don’t think this is a cumulative impacts bill” (Participant, State Legislator, oral testimony for HB0820). Throughout the policy process, bill proponents and opponents’ frames remained incompatible in the translation of social justice principles into public policy.
3.3. The Dilemma of Authority: “Unfortunately Our State Agencies Are Not Doing Enough to Work Together”
The [health] department is in opposition to the bill. The primary concern here is that this is a very complicated and new undertaking for the department. It’s a process that might involve some 30–50, we’re estimating, permit reviews a year. Part of the challenge is we [health department] don’t live in the air permitting business, we live in the health business. It’s not something the department has previously done and it would require a fair amount of work (Participant, Stage Government Official, oral testimony for HB0987).
- State environmental agency staff reinforced this framing by stating that they only have the capacity and authority to follow current federal EPA guidelines:
We don’t make that public health decision directly, but the feds have already done that. In none of our air permitting requirements do we look at direct impacts to public health...we review the concentration of those emissions. It’s not cumulative, just that particular one source, and gauge it against set criteria that federal toxicologists have developed for worker safety levels. We divide by 100 to make sure that there’s a threshold, a safety factor for kids and for sensitive populations. If with that math you’re below that federal level, then you pass. That’s about the only public health link we have to what we do (Participant, State Government Official).
4. Discussion
5. Conclusions
Supplementary Materials
Author Contributions
Funding
Institutional Review Board Statement
Informed Consent Statement
Acknowledgments
Conflicts of Interest
References
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HB1210/SB706 Environment-Permit Determinations-Cumulative Impact Assessments 2014 | HB0987/SB0693 Cumulative Air Impact Analysis 2015 | HB0820/SB0398 The REDUCE Act-Reducing Environmental Degradation for the Underserved through Community Engagement 2016 |
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This bill requires permit applicants to submit to Maryland Department of the Environment (MDE) a cumulative impact assessment before preparing a tentative determination on an application for permits for operations in unincorporated communities in Prince George’s County. The assessment must address the likely impact on the environment and on human populations that will result from the incremental impact of the activity or proposed facility authorized under the permit when added to the impact of other past and present sources of pollution. MDE must provide a summary of the results of the assessment to the Prince George’s County planning and zoning authority, and, for a specified air quality permit, must post the results on its website. MDE may adopt regulations to implement the bill. | This bill requires MDE to conduct a Cumulative Air Impact Analysis (CAIA) upon receipt of an application for an air quality permit to construct in a “protected community” in the state. If MDE concludes, following a CAIA, that the proposed activity will have an impact, MDE is required to take specified actions on the permit, potentially including denial of the permit. The bill establishes a public participation process to accompany applications for air quality permits, and requires MDE and the Maryland Department of Health (MDH) to study the negative effects of cumulative impacts of pollution and other topics. MDE may adopt regulations to implement the bill. | This bill requires applicant for an air quality permit to (1) estimate and report specified information related to diesel vehicle trips and emissions to MDE and (2) solicit specified information from an “affected community” located around a source or proposed source. “Affected community” means a U.S. Census tract in which the source or proposed source is located that meets specified income and race criteria. Before issuing such a permit, MDE must (1) solicit specified information from the appropriate county or local health department related to incidences of specified health ailments within the affected community and (2) coordinate with the permit applicant to disseminate the information to interested parties. |
Stakeholder Group | Number Interviewed | Context |
---|---|---|
Maryland General Assembly | 2 | Members of the Maryland General Assembly’s Environment and Transportation Committee. |
Environmental and Health Agencies | 8 | Members of the EPA, MDE, MDH, and local government agencies. |
Businesses, Trade Associations, Labor Organizations | 6 | Members of Maryland-based businesses and chapters of trade associations and labor organizations. |
Environmental and Health Nonprofits | 9 | Members of national, regional, and state environmental and health nonprofits. |
Community-based Organizations and Community Leaders | 7 | Members of communities and community-based organizations in Baltimore, Baltimore County, and Prince George’s County. |
Academic and Research Experts | 3 | Members of academic and research communities. |
|
Frames | Subthemes |
---|---|
Evidence and knowledge | Cumulative Impacts |
Cumulative Risk | |
Data and Data Collection | |
Knowledge Production, Ownership, and Transfer | |
Social Justice | Economic Justice |
Environmental Justice | |
Balancing Economic and Environmental Justice | |
Authority and accountability | Association Between Industrial Pollution and Health Outcomes |
Mitigation | |
Policy Environment | |
Experiences with Maryland Cumulative Impact Policy |
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Payne-Sturges, D.C.; Sangaramoorthy, T.; Mittmann, H. Framing Environmental Health Decision-Making: The Struggle over Cumulative Impacts Policy. Int. J. Environ. Res. Public Health 2021, 18, 3947. https://doi.org/10.3390/ijerph18083947
Payne-Sturges DC, Sangaramoorthy T, Mittmann H. Framing Environmental Health Decision-Making: The Struggle over Cumulative Impacts Policy. International Journal of Environmental Research and Public Health. 2021; 18(8):3947. https://doi.org/10.3390/ijerph18083947
Chicago/Turabian StylePayne-Sturges, Devon C., Thurka Sangaramoorthy, and Helen Mittmann. 2021. "Framing Environmental Health Decision-Making: The Struggle over Cumulative Impacts Policy" International Journal of Environmental Research and Public Health 18, no. 8: 3947. https://doi.org/10.3390/ijerph18083947
APA StylePayne-Sturges, D. C., Sangaramoorthy, T., & Mittmann, H. (2021). Framing Environmental Health Decision-Making: The Struggle over Cumulative Impacts Policy. International Journal of Environmental Research and Public Health, 18(8), 3947. https://doi.org/10.3390/ijerph18083947