Hot Spots vs Clusters: Environmental Right to Know in Santa Ana

Description

This photo essay combines data from CARB's Toxic Release Facility search engine with CalEnviroScreen's cansus-tract level data on TRIs to argue that California's Air Toxics "Hot Spots" Information and Assessment Act (AB 2588, 1987) needs to be updated to appreciate the combined impact of TRI clusters.

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South Coast AQMD's Hot Spot Thresholds

This image shows the thresholds set for both cancer and non-cancer risk posed by Toxic Release Facilities in the South Coast Air Quality Management District. The AQMD uses these thresholds to determine "Hot Spots," which require a thorough public health assessment and mitigation efforts on the part of the facility.

“Assembly Bill (AB) 2588 (Connelly), the Air Toxics 'Hot Spots' Information and Assessment Act, requires facilities that are ranked as a high priority (see Prioritization) to submit a health risk assessment (HRA) to the air pollution control and air quality management districts (district). A risk assessment, as defined under the Air Toxics 'Hot Spots' Act, includes a comprehensive analysis of the dispersion of hazardous substances into the environment, the potential for human exposure, and a quantitative assessment of both individual and population-wide health risks associated with those levels of exposure. The risk assessments submitted by the facilities are reviewed by the Office of Environmental Health Hazard Assessment (OEHHA) and approved by the district. In addition, the district may require facilities in the intermediate and low priority categories to also submit a health risk assessment."

According to this chart, South Coast AQMD sets the maximum incremental cancer risk threshold at 10 or more "chances" of cancer per 1 million residents, while a site is considered "cancer burdened" if exceeding 1 "chances" per 2 million residents (or .5 cases per 1 million). Further elaborated, this webpage specifies that an "actionable risk" is set at 25 "chances" per 1 million residents and a "significant risk" is set at 100 "chances" per 1 million residents. According to the website, "Facilities above these risk levels may be designated as a Potentially High Risk Level Facility under Rule 1402." However, it is unclear what AQMD means by "chances," or how this "facility-level" risk translates into community-level.

Santa Ana's 2020 TRI Facility Search Results Non/Cancer Risk

This list shows the registered and permited Toxic Release Facilities in Santa Ana, which are required to report their emissions to AQMD. Because these facilities have been determined not to meet the South Coast threshold for either cancer or non-cancer health risks, the public is not provided with any legible assessment of the level of risk these facilities may pose.

Santa Ana's 2020 TRI Facility Emissions Data

As shown here, CARB's facility search engine will provide emissions data on specific toxics, but this does not easily translate into an understanding of their health risks, especially any cumulative or combined risk.

Cluster of TRI Facilities in Santa Ana

AQMD's facility-level analysis is problematic when you consider the significant cumulative impact potential of tight clusters of these so-called "safe" or "low-emitting" facilities. Santa Ana has two prominent clusters which are shown here in the southwest and south east corners of the city.

Santa Ana's 2022 TRI Facilities CalEnviroScreen

Furthermore, the determination of "low risk" at the facility-level blatantly contradicts data at a more aggragated level. CalEnviroScreen's data on Toxic Release Inventories shows all of Santa Ana's census tracts as being above the 90th percentile for toxic emissions in the state. What is more, this data shows another dramatic increase in emissions for the census tracts containing these TRI clusters.

Santa Ana's 97th Percentile TRI Emissions - CalEnviroScreen

As shown here, this census tract contains 6 TRI facilities and is in the 97th percentile for toxic emissions.

Santa Ana's 96th Percentile TRI Emissions - CalEnviroScreen

The census tract, too, may not be an adequate unit of analysis, given that these clusters often impact neighboring census tracts which do not contain TRIs themselves. For example, this census tract, which sits above a TRI cluster contains only one TRI facility, and yet it is still in the 96th percentile.

License

All rights reserved.

Contributors

Created date

January 29, 2023

Group Audience

Cite as

James Adams. 29 January 2023, "Hot Spots vs Clusters: Environmental Right to Know in Santa Ana", Disaster STS Network, Platform for Experimental Collaborative Ethnography, last modified 19 January 2024, accessed 28 November 2024. http://465538.bc062.asia/content/hot-spots-vs-clusters-environmental-right-know-santa-ana