The hollow façade of federal environmental and product safety regulation
makes it essential that corporate managers and the investors in their companies,
look beyond mere compliance with federal law to effectively and strategically
manage the business risks from toxic chemicals in the products they manufacture
and retail.
The robust media coverage of product recalls in recent months has highlighted
the sad state of federal law and regulation. It's truly like the Potemkin
villages of old - a false front suggesting that the federal government is
protecting public health and the environment when in reality existing laws,
regulations, staffing and budgets are grossly deficient and have been for many
years. The recent congressional uproar over declining staffing and limited
budgets at the Consumer Product Safety Commission brings to mind the famous
scene in the movie Casablanca, where Captain Renault closes down the
gambling in Rick's café and declares, "I'm shocked, shocked to find that
gambling is going on in here," and is then handed his winnings by the croupier.
The following is just one of many available examples: eleven years have
passed since Congress told EPA to establish a screening and testing program for
hormone disrupting chemicals, EPA's chronically, dismally underfunded programme
still is many years away from completing development of the screens and tests.
EPA's programme lags even as scientific evidence about the impacts of these
chemicals multiplies; without the programme in place, EPA's ability to respond
is hobbled.
So individual states are stepping forward to fill the void. California's
clearly the leader, inspired by regulatory developments in Europe over the last
several years. There are now 27 nations in the European Union; California has
adopted so many of Europe's chemical regulations that it's jokingly been
suggested that California should consider becoming number 28.
Following the EU, California has adopted new laws on brominated flame
retardants, toxic chemicals in electronics goods, cosmetics safety and
phthalates in toys. A senior marketing VP for a major retailer commented on this
pattern at a meeting with
IEHN
participants: "We look over there in Europe because what happens in Europe comes
over to the States. We look at California and the East Coast because that's
what's going to shape the marketplace for us."
California's not alone. Similar initiatives have been launched in Washington,
New York, Maine and Massachusetts, among others. In mid-December 2007, Maine
Governor John Baldacci announced he will incorporate into his 2008 legislative
package some of the recommendations of a task force on reducing toxic chemicals
in consumer products. He can select from recommendations including publication
of a list of chemicals of high and moderate concern, requiring disclosure by
companies of these chemicals in their products and restricting chemicals in
consumer products when safer alternatives are available and affordable.
The recommendations from the Maine task force reflect a newly established EU
regimen for chemicals management called
REACH.
For companies managing supply chains, the most noteworthy and potentially
worrisome near-term component of REACH is the publication in mid-2009 of
chemicals whose characteristics make them substances of very high concern for
potential substitution. Regardless of how quickly EU regulators act on the list,
there'll be a tremendous incentive for socially responsible retailers to get
ahead of the curve and to ask their suppliers to eliminate these chemicals from
supply chains.
B2B initiatives complement those from the states. Wal-Mart's sustainability
policies, including its precautionary preferred substances (chemicals) policy,
have drawn considerable attention. The health care sector, responsible for 16
per cent of US GDP, is a hotbed of safer chemical initiatives, observing the
precept of "first, do no harm". Consorta is a group purchasing organisation
(GPO) representing 60 per cent of all the Catholic health care systems in the
US, and it has just launched
Evergreen magazine,
captioned "The magazine for environmentally preferred healthcare purchasing."
The journal will go to at least 50,000 healthcare managers and its regular
chemical feature will focus on such substances as mercury, flame retardants,
phthalates and pesticides.
So what do all these developments mean for corporate managers and for the
investors assessing their companies? First, a company with a federal compliance
mindset has its head in the sand and will be ill-prepared for toxic lockouts of
products from various marketplaces. Second, a company needs to systematically
gather information from its suppliers on the toxic chemicals in its supply
chain, even though this can be quite difficult where supply chains are quite
extended and local regulations and political cultures are not supportive of
disclosure.
Third, those companies launching sustainability initiatives must have strong
chemical foresight mechanisms developed, where appropriate, akin to the
foresight mechanisms insurance companies have evolved to flag emerging risks and
establish suitable goals and metrics for toxicity reduction to ensure success in
potentially turbulent chemicals markets ahead.
Fourth, beginning the safer chemicals journey, especially for companies with
no prior experience or internal expertise, can be an intimidating process.
Companies should aggressively explore opportunities to partner with companies
within and outside their businesses and with those NGOs that have developed
strong technical competencies, to speed their journey.
For their part, investors should heed the lessons from 2007's recalls of
various consumer products: the companies they invest in need solid policies and
practices in place for tracking chemicals in products ... or face toxic lockouts
from the marketplace, reputational damage, sizeable reductions in shareholder
value and possibly lawsuits.
Richard Liroff is the Executive Director of the
Investor Environmental Health
Network.
This column first appeared at
Greenbiz.com. It is
excerpted from a longer article, "Toxic Lockout", scheduled for publication in
the May/June 2008 issue of The
Environmental Law Institute's Environmental Forum.
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