Press Release

Inclusion of White Chrysotile Asbestos in the UN List of hazardous
substances postponed, to be considered again at Rotterdam Convention's
COP 8

Govt must Make India Asbestos Free by rectifying irrationality of
banning mining of asbestos but continuing its trade

INDIA'S INVENTORY OF HAZARDOUS CHEMICALS IMPORT INCLUDES "ASBESTOS",
LIST OF BANNED HAZARDOUS WASTES INCLUDES WASTE ASBESTOS (DUST AND
FIBERS)

Documents on hazardous substances like White Chrysotile Asbestos and
incurable diseases must be made available in Indian languages

May 15, 2015: Following opposition by Russia, Kyrgyzstan, Kazakhstan
and Zimbabwe to the listing of White Chrysotile Asbestos in the UN
list of hazardous substances, UN Rotterdam Convention's Seventh
Conference of Parties (COP7) agreed to postpone the issue of its
inclusion for consideration by COP8. Unlike these countries, Inventory
of Hazardous Chemicals Import in India prepared by Union Ministry of
Environment & Forests, Government of India lists 'Asbestos' at serial
no. 26 as one of the 180 hazardous chemicals imported in India.

In a bizarre act while Government of India has technically banned
asbestos mining, it continues to allow import and export of asbestos.
"In view of the deleterious effect of asbestos mining on health of the
workers, the government has ordered the State governments in 1986 not
to grant any new mining lease for asbestos (including Chrysotile
variety) in the country" as per Government of India's letter with
reference no. 7/23/84-AM-III/AM-VI dated 09.07.1986, Government must
make India asbestos free by rectifying the irrationality of banning
mining of asbestos but continuing its trade.

Incidentally, United Nations Committee of Experts on the
Transportation of Dangerous Goods classifies Chrysotile Asbestos in
Hazard Class and Packing Group, UN number 2590, Class 9 -
Miscellaneous dangerous goods and articles. Its International Maritime
Dangerous Goods (IMDG) Code is UN No: 2590: Class or division 9.

Notably, all the forms of asbestos including Actinolite asbestos,
Anthophyllite, Amosite asbestos, Crocidolite and Tremolite are already
in the PIC list except White Chrysotile Asbestos. While there is a
genral prohibition on production, importation, commercialization and
use of Asbestos fibres Amphiboles forms (Crocidolites, Amosite,
Actinolite, Tremolite, Anthophyllite) and products formulated on its
basis but India gives "Consent to import only subject to specified
conditions" for Anthophyllite. Ban Asbestos Network of India (BANI)
has been struggling to ensure its inclusion of all kinds of asbestos
in the Convention's hazardous substances list.

The inclusion of Chrysotile Asbestos in Annex III to the Rotterdam
Convention on the Prior Informed Consent (PIC) Procedure for Certain
Hazardous Chemicals and Pesticides in International Trade was on the
agenda of its CoP 7. It was part of matters related to the
implementation of the Convention through consideration of chemicals
for inclusion in Annex III to the Convention through UN document no.
UNEP/FAO/RC/COP.7/11. The chemicals in the PIC list are clearly
divided into two groups: industrial chemicals and pesticides. Parties
make import responses for each chemical and the responses are
published in the PIC Circular. The criteria for listing a chemical in
Annex III are contained in Annex II of the Convention.

In accordance with articles 5 and 7 of the Convention, the Chemical
Review Committee (CRC) at its second meeting recommended the listing
of chrysotile asbestos in Annex III to the Convention, approved the
text of a draft decision guidance document on chrysotile asbestos
(UNEP/FAO/RC/COP.7/11/Add.1, annex) and decided to forward the
recommendation and the draft decision guidance document to the
Conference of the Parties for consideration.

At its third meeting, the Conference of the Parties deliberated on the
inclusion of chrysotile asbestos in Annex III to the Convention and,
by paragraph 2 of decision RC-3/3, decided that the requirements set
out in article 5, including the criteria set out in Annex II to the
Convention as referenced in paragraph 6 of article 5 of the
Convention, the requirements set out in paragraph 1 of article 7 of
the Convention and the requirements set out in the first sentence of
paragraph 2 of Article 7 of the Convention on the process for listing
in Annex III to the Convention, had been met. The Conference of the
Parties, however, did not reach consensus on whether to list
chrysotile asbestos and, by paragraph 1 of decision RC-3/3, decided to
further consider the amendment of Annex III to the Rotterdam
Convention to include chrysotile asbestos at its fourth meeting.

At its fourth and fifth meetings, the Conference of the Parties
deliberated on the inclusion of chrysotile asbestos in Annex III to
the Rotterdam Convention, but was not able to reach consensus. At the
fifth meeting of the Conference of the Parties, the contact group on
candidate chemicals prepared a draft decision on follow-up action by
the Chemical Review Committee on the listing of chrysotile asbestos.
As the chemical was not listed, the Conference of the Parties agreed
to annex the draft decision to the report of the Conference on the
work of its fifth meeting for possible consideration at a future
meeting (UNEP/FAO/RC/COP.5/26, annex IV).

Following discussions at its sixth meeting, the Conference of the
Parties decided, given the lack of consensus, to include further
consideration of the listing of chrysotile asbestos in Annex III to
the Convention on the agenda of its seventh meeting
(UNEP/FAO/RC/COP.6/20, para.79).

At CoP 7, the proposed action included parties to satisfy themselves
that all the requirements for listing in Annex III have been met after
considering the recommendation of the CRC to make chrysotile asbestos
subject to the prior informed consent procedure and accordingly to
list the chemical in Annex III to the Convention. Following which they
were supposed to decide to amend Annex III to the Convention to list
Chrysotile Asbestos, the industrial chemical. It was also supposed to
decide that this amendment to enter into force for all parties on 15th
September 2015 after approving the draft decision guidance document on
chrysotile asbestos. But the proceedings did not proceed as proposed.

On 14th May, 2015, COP7 considered the inclusion of chrysotile
asbestos in Annex III of the Convention (UNEP/FAO/RC/COP.7/11) but
owing to opposition from interested parties like the Russia,
Kyrgyzstan, Kazakhstan and Zimbabwe, the issue of listing of
chrysotile asbestos has been deferred yet again for consideration by
CoP8.

The obligations of the Convention on responsible trade fall on those
exporting countries that are Parties to the Convention. The Convention
requires countries to strengthen their own chemicals management
infrastructures and enforcement mechanisms. The Convention includes
final regulatory actions (bans or severe restrictions) where the
action was taken for the purposes of human health OR environmental
reasons but mere listing does not lead to ban. The inclusion of
chemicals in Annex III is not an invitation for Parties to ban their
use. The purpose of the prior informed consent procedure is to allow
countries to make their own informed decisions on future imports of
the chemical depending on their own needs, circumstances and uses of
the chemical. However, if a Party decides not to allow any future
import of a PIC chemical, then they must also ensure that any domestic
manufacture and use of the chemical is banned. Imports of the chemical
from non-Parties to the Convention should also not be allowed.

As at 31 October 2014, there were 154 parties to the Convention.
During the reporting period (June 2013 to December 2014), four States-
Afghanistan, Cambodia, Sao Tome and Principe and Indonesia acceded to
or ratified the Convention.

The substances listed in the Annex III include Alachlor, Aldicarb,
Aldrin, Azinphos-methyl, Binapacryl, Captafol, Chlordane,
Chlordimeform, Chlorobenzilate, DDT, Dieldrin, Dinitro-ortho-cresol
(DNOC) and its salts (such as ammonium salt, potassium salt and sodium
salt),  Dinoseb and its salts and esters, EDB (1,2-dibromoethane),
Endosulfan, Ethylene dichloride, Ethylene oxide, Fluoroacetamide, HCH
(mixed isomers), Heptachlor, Hexachlorobenzene, Lindane (gamma-HCH),
Mercury compounds, including inorganic mercury compounds, alkyl
mercury compounds and alkyloxyalkyl and aryl mercury compounds,
Monocrotophos, Parathion, Pentachlorophenol and its salts and esters,
Toxaphene (Camphechlor), Tributyl tin compounds, Dustable powder
formulations containing a combination of benomyl at or above 7%,
carbofuran at or above 10% and thiram at or above 15%, Methamidophos
(Soluble liquid formulations of the substance that exceed 600 g active
ingredient/l), Methyl-parathion (Emulsifiable concentrates (EC) at or
above 19.5% active ingredient and dusts at or above 1.5% active
ingredient), Phosphamidon (Soluble liquid formulations of the
substance that exceed 1000 g active ingredient/l), Actinolite
asbestos, Anthophyllite, Amosite asbestos, Crocidolite, Tremolite,
Commercial octabromodiphenyl ether (including Hexabromodiphenyl ether
and Heptabromodiphenyl ether), Commercial pentabromodiphenyl ether
(including tetrabromodiphenyl ether and pentabromodiphenyl ether),
Perfluorooctane sulfonic acid, perfluorooctane sulfonates,
perfluorooctane sulfonamides and perfluorooctane sulfonyls,
Polybrominated Biphenyls (PBBs), Polychlorinated Biphenyls (PCBs),
Polychlorinated Terphenyls (PCTs), Tetraethyl lead, Tetramethyl lead
and Tris (2,3 dibromopropyl) phosphate.

This list includes all forms of asbestos except white chrysotile asbestos.

The seventh meeting of the Conference of the Parties to the Rotterdam
Convention (RC COP-7) was held from 4th to 15th May, 2015
simultaneously with the twelfth meeting of the Conference of the
Parties to the Basel Convention (BC COP-12) and the seventh meeting of
the Conference of the Parties to the Stockholm Convention (SC COP-7).
The meetings included joint sessions among two or three of the
conferences of the parties on joint issues. The theme for the meetings
of the conferences of the parties to the Basel, Rotterdam and
Stockholm conventions was 'From science to action, working for a safer
tomorrow'.

In many countries, there are general provisions that do not allow the
use or importation of any chemical that is not registered or approved.
India should adopt such provisions and consider applying them to white
chrysotile asbestos.

Ban Asbestos Network of India (BANI) is a collective of researchers
and social workers working for environmental and occupational health
justice in general and for elimination of asbestos of all kinds from
trade and use. It is struggling for just compensation for victims of
primary and secondary exposure, decontamination of asbestos laden
buildings and products and advocating adoption of non-hazardous
alternatives to killer fibers of asbestos. It isn't structurally
associated with the transnational alliances working for asbestos free
world. It is involved in struggling for a safe working and living
conditions for workers in the asbestos based industries, ship breaking
industry, construction industry, defence industry and other
businesses. BANI's work is independent public interest research and
advocacy work with grass root organizations for safeguarding health of
present and future generations.

BANI demands strict implementation of occupational health surveillance
scheme through pre employment health examination and periodic health
examination in industries where is possibility of exposure to airborne
asbestos. Such scheme for health surveillance must include exposure
data at each pertinent work place, periodical examination of workers,
X-ray examination for radiological changes, lung function test for
restrictive disorder and clinical examination for early detection of
signs of asbestosis. These tests must be recorded for pre-employment,
periodic surveillance and at cessation of employment. Occupational
health surveillance must be carried out by occupational physician or
chest physician trained in occupational medicine. The occupational
health surveillance program must be drawn for all the employees
potentially exposed to asbestos dust and it is to be provided free of
cost.

BANI demands maintenance and storage of medical records for period of
15 years following the termination of employment or for 40 years after
first day of employment, whichever is later by employers, government
agencies and workers organizations. The medical records must be
maintained covering the details of pre-employment examination, the
periodical medical examinations, medical examination done at other
times, if any and the medical examinations conducted at cessation of
employment and further follow-up examinations, where done.
BANI demands that individual employees' occupational exposure profile
to asbestos, specific work practices, and preventive measures
including plan for management of asbestos related diseases prescribed
must be recorded.

BANI will continue to work for the inclusion of white chrysotile
asbestos in the UN list. Its efforts have led to inclusion of asbestos
in the Inventory of Hazardous Chemicals Import in India and inclusion
of Waste Asbestos (Dust and Fibers) in the list of Hazardous Wastes
Prohibited for Import and Export under Schedule VI of Hazardous Wastes
(Management, Handling and Transboundary Movement) Rules, 2008 under
the Environment (Protection) Act, 1986. Its efforts led to the finding
that 16 % workers in the shipbreaking industry occupationally exposed
to asbestos.

Notably, "Buying asbestos is buying akin to buying cancer. I will get
asbestos removed from my residence. The ache of asbestos hazards is
worse than the ache of unemployment" said Awadesh Narain Singh,
Chairman, Bihar Legislative Council, in a speech available on
www.youtube.com

The Report of Working Group on Occupational Safety and Health, Xth
Five Year Plan, Planning Commission observed that the workers are also
exposed to a host of hazardous substances, which have a potential to
cause serious occupational diseases such as asbestosis. It revealed
substantial prevalence of occupational health disorders amongst the
workers such as Asbestosis. The prevalence rate for Asbestosis was
reported to be 7.25%.

The Vision Statement of Ministry of Environment, Forests and Climate
Change recommends phase out of chrysotile asbestos saying,
"Alternatives to asbestos may be used to the extent possible and use
of asbestos may be phased out."
http://moef.nic.in/divisions/cpoll/envhealth/visenvhealth.pdf

The Concept Paper of Union Ministry of Labour presented at Fifth
India-EU Seminar states, "The Government of India is considering the
ban the mining and use of chrysotile asbestos in India to protect the
workers and the general population against primary and secondary
exposure to Chrysotile form of Asbestos."
http://www.labour.nic.in/lc/Background%20note.pdf

Under Indian Factories Act, 1948, the List of 29 industries involving
hazardous processes is given under Section 2 (cb), Schedule First,
asbestos is mentioned at serial no. 24. The Act defines "hazardous
process" as "any process or activity in relation to an industry
specified in the First Schedule where, unless special care is taken,
raw materials used therein or the intermediate or finished products,
bye-products, wastes or effluents thereof would--(i) cause material
impairment to the health of the persons engaged in or connected
therewith, or (ii) result in the pollution of the general
environment". This leaves no doubt that asbestos is a hazardous
substance.

Irrespective of the outcome of the CoP 7 given the fact that domestic
laws are intact, it is high time Prime Minister intervened to ensure
that Union Ministry of Chemicals and Fertilizers and Union Ministry of
Commerce and Industry are not overwhelmed by Asbestos Cement Products
Manufacturers Association, a so-called not for profit organization,
involved in persuading government representatives to give priority to
the profit of the indefensible asbestos industry and to undermine
public health concerns of present and future generations.

As usual the working language for the UN conference was Arabic,
Chinese, English, French, Russian and Spanish. BANI demands that
documents related to hazardous substances, whose exposure entails
matters of life and death must be made available in Indian languages
as well for greater public awareness, participation and action.

For Details: Gopal Krishna, Ban Asbestos Network of India
(BANI)-ToxicsWatch Alliance (TWA), Mb: 08227816731, 09818089660,
[email protected], Blog:banasbestosindia.blogspot.in Web:
www.toxicswatch.org

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