1 / 13

James D. Schaub Director

Federal Review of Risk Assessments. James D. Schaub Director Office of Risk Assessment and Cost-Benefit Analysis U.S. Department of Agriculture September 30, 2003. Overview. Background on ORACBA Expectations Experience. Background on ORACBA. Origin Organization & staffing Functions

dragon
Download Presentation

James D. Schaub Director

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Federal Review ofRisk Assessments James D. Schaub Director Office of Risk Assessment and Cost-Benefit AnalysisU.S. Department of Agriculture September 30, 2003

  2. Overview • Background on ORACBA • Expectations • Experience

  3. Background on ORACBA • Origin • Organization & staffing • Functions • Relationships

  4. Key Provisions of ORACBA Statute(PL 103-354) • Requires Risk Assessment and Cost-Benefit Analysis • Defines scope • Primary purpose—human health, human safety, the environment • Major—($100 million annual impact) • Requires analysis “with as much specificity as practicable” • The risk . . . risks to persons disproportionately exposed • Comparison of risks • The benefits including expected risk reduction • Requires evaluation whether the regulation • Will reduce risk • Will be cost effective

  5. ORACBA Statute and Quality • “Ensure that any regulatory analysis . . . Is performed consistently and uses reasonably obtainable and sound scientific, technical, economic and other data.” • Like many statutes, it is left to the Agency to fill in the details.

  6. Expectations Regarding Quality • The public—consumers, industry and others • Executive branch, Congress and the Courts • International Are these expectations useful for establishing peer review systems?

  7. Communicating Expectations for Quality • Public • Science • Accessibility, e.g., public meetings and website • Accountability and good decisions • Executive Branch • E.O. 12866 • OMB Bulletin on Peer Review & Information Quality • OMB Circular A-4 Regulatory Analysis • Department and agency guidance, e.g., USDA Departmental Regulation 1512

  8. Communicating Expectations for Quality • Congress • Information Quality Act (P.L. 106-554) • ORACBA Statute (P.L. 103-354) • FIFRA, FQPA • Courts • Argentine citrus case • Benzene case • International • WTO Agreement on the Application of Sanitary & Phytosanitary Measures • Codex • International Plant Protection Convention • Office International des Epizooties (OIE)

  9. Clearance Sheet

  10. Experience • ORACBA Reviews • ORACBA staff • Other Federal employees • Non-Federal reviewer • Standards (partial list) • Correct use of science • Basis for assumptions • Good data • Recognize uncertainty & variability • Transparent • Documentation • Clarity Just as risk assessors should be free to follow the facts, so too for peer reviewers.

  11. Experience • Strengths • No financial conflict of interest • Independent clearance by ORACBA • Relatively low cost • Pool of reviewers, but is it large enough? • Correct incentives exist for Federal reviewers • Can deal with CBI and Classified material • Accessible to the public • Agencies accept responsibility for obtaining peer review

  12. Experience • Weaknesses • Public distrusts government • Agencies have lost in court • Time pressures may influence depth of reviews. • Reviewers must remain at arms length during development of assessment. This deprives agencies of benefits of consultation. • CBI and classified material limits the pool of reviewers. • Risk assessment is a team effort but peer review is by individuals. • Public access to risk assessments does not ensure sound review. • Some officials view risk assessment requirement and peer review as impediments.

  13. Conclusions • Expectations for sound regulatory analyses are high. • Agencies are responding to expectations. • Building analytical capacity • Embracing peer review. • An independent review and clearance office is valuable.

More Related