{"id":365,"date":"2011-02-02T20:44:40","date_gmt":"2011-02-02T20:44:40","guid":{"rendered":"http:\/\/sagereports.com\/smart-meter-rf\/?p=365"},"modified":"2011-02-02T21:08:33","modified_gmt":"2011-02-02T21:08:33","slug":"janet-newton-president-emr-policy-institute","status":"publish","type":"post","link":"http:\/\/sagereports.com\/smart-meter-rf\/?p=365","title":{"rendered":"Janet Newton, President EMR Policy Institute <a href=\"http:\/\/sagereports.com\/smart-meter-rf\/docs\/letters\/Newton_31jan2011_emrpi_ccst_comment.pdf\"><img src=\"http:\/\/sagereports.com\/smart-meter-rf\/docs\/pdf.png\"><\/a>"},"content":{"rendered":"<p>To:\u00a0\u00a0\u00a0\u00a0\u00a0\u00a0 California Council on Science and Technology<\/p>\n<p>Date:\u00a0 \u00a031 January 2011<\/p>\n<p>RE:\u00a0\u00a0\u00a0\u00a0\u00a0 Comment on: Health Impacts of Radio Frequency from Smart Meters<\/p>\n<p>Response to Assembly Members Huffman and Monning (CCST Report)<\/p>\n<p>Cc:\u00a0\u00a0\u00a0\u00a0\u00a0 via E-mail to:<\/p>\n<p>California Assemblyman Jared Huffman<\/p>\n<p>California Assemblyman Bill Monning<\/p>\n<p>Thank you for the opportunity to comment on this important public healthy policy issue.<\/p>\n<p>The EMR Policy Institute (EMRPI) is a national advocacy organization established in 2003 whose goal is to create better cooperation between public health regulatory agencies in order to mitigate unnecessary hazardous electromagnetic radiation (EMR) exposures. We educate policy makers and the public on the\u00a0need for sound, biologically-based human safety policy that protects public health regarding EMR exposures across the electromagnetic spectrum.<\/p>\n<p>EMRPI continues to challenge the inadequacy of the US safety policy on electromagnetic and RF radiation exposures by submitting official comment to key federal agencies. Our record of formal comment as individuals and through our organization dates back to 1997. It includes official comment to key federal agencies such as the NAS, FCC, FDA, GAO, NIOSH, NTIA and DOJ.<\/p>\n<p>The directors of EMRPI have participated in taking three cases to the US Supreme Court challenging the FCC\u2019s RF safety policy as <strong>inadequate to protect <\/strong><strong>all members of the public. <\/strong>In each case the Court denied certiorari on procedural grounds.<\/p>\n<p>This EMRPI Comment is based upon our 14-year record of scrutiny of the inadequacies in the current FCC radiofrequency radiation policy that was put in place in 1997. Since 1997 the FCC has resisted all calls to address these inadequacies, i.e., to develop biologically-based safety limits for human exposure to RF radiation that protect all members of the public.<\/p>\n<p>Currently there are three U.S. federal mandates promoting wireless technologies that can adversely affect the health and well being of all Americans, and especially those who require Implanted Medical Devices (IMDs) as well as those who suffer from the functional impairments of EHS and Radiofrequency Sickness. These population subgroups warrant protection by the under Americans with Disabilities Act provisions. There is no federal agency coordination to enforce these provisions. The mandates are:<\/p>\n<p>\u2022 Wireless broadband<\/p>\n<p>\u2022 SmartGrid and Smart Meters (wireless utility meters)<\/p>\n<p>\u2022 Unlicensed commercial use of TV White Spaces spectrum.<\/p>\n<p>Ubiquitous involuntary exposure to Electromagnetic Interference (EMI) with IMDs from these sources as well as from the plethora of wireless consumer devices now on the market presents the greatest potential for harm for Americans with IMDs. The FCC\u2019s focus on EMI and \u201csafety\u201d continues to protect devices rather than members of the public as found in its\u00a02009 announcement of its International TV White Spaces Fellowship and Training Initiative:<\/p>\n<p><em>. . . by building on a proven concept: the safe deployment of new, intelligent devices in the unused spectrum that exists between television channels <strong>without causing undue interference to adjacent users. <\/strong><\/em>(Emphasis added.)<\/p>\n<p>\u201cAdjacent users\u201d refers to commercial communications devices rather than to humans with\u00a0IMDs.<\/p>\n<p>In view of California\u2019s initiative to deploy wireless smart meters statewide EMRPI submits the following comment on the CCST Report:<\/p>\n<p>1. \u00a0The January 2011 CCST Report misses out on a key opportunity to address its own\u00a0\u201cKey Report Findings\u201d and \u201cOther Considerations\u201d by failing to provide the public with\u00a0a clear analysis of the scientific record upon which the current FCC RF radiation safety policy is based. On p. 8 The CCST Report specifically references the 2008 National Academies of Science Report: <strong><em>Identification of Research Needs Relating to Adverse Health Effects of Wireless Communication <\/em><\/strong>(NAS Report at: <a href=\"http:\/\/www.nap.edu\/catalog.php?record_id=12036\">www.nap.edu\/catalog.php?record_id=12036<\/a>) The National Academies of Science performs provides a parallel service for the US federal government that the CCST does for the State of California, yet the CCST Report fails to include the specific details of the 2008 NAS Report findings.<\/p>\n<p><em>2. <\/em>Safety regulations are based on the published record of scientific studies in a given field. The NAS Report enumerates the holes in the RF research record upon which FCC RF safety policy is based. In failing to include the NAS Report findings, the CCST Report missed the mark for explaining its own Key Finding #3 \u2013 <em>To date, scientific findings have not identified nor confirmed negative health effects from <\/em>potential non-thermal <em>impacts of RF emissions such as those produced by existing common household electronic devices and smart meters. . . <\/em>and Other Considerations #3 \u2013 <em>Consumers should be provided with clearly understood information about the radiofrequency emissions of all devices that emit RF including smart meters.<\/em><\/p>\n<p>3. \u00a0On p. 7 CCST Report states that: <em>Given current scientific knowledge, the FCC guideline provides a more than adequate margin of safety against the known thermal effects. <\/em>It fails, however, to specify the holes in the \u201ccurrent scientific knowledge\u201d delineated in the NAS Report.<\/p>\n<p>4. \u00a0On p. 8 CCST Report states that:: <strong><em>At this time there is no clear evidence that additional standards are needed to protect the public from smart meters or other common household electronic devices. <\/em><\/strong>However, the 2008 NAS Report\u00a0documents the need to characterize specific aspects of real-life public exposure to RF radiation that are not addressed in the scientific record upon which the current FCC RF safety policy is based (see pp. 13-44):<\/p>\n<p>a. \u00a0Exposure of juveniles, children, pregnant women, and fetuses both for personal wireless devices (e.g., cell phones, wireless personal computers [PCs} and for RF fields from base station antennas.<\/p>\n<p>b. \u00a0Variability of exposures to the actual use of the device, the environment in which it is used, and exposures from other sources.<\/p>\n<p>c.\u00a0 \u00a0Multilateral exposures.<\/p>\n<p>d. \u00a0Multiple frequency exposures.<\/p>\n<p>e. \u00a0Location of use (both geographic location and whether a device is primarily used indoors or outdoors).<\/p>\n<p>f.\u00a0\u00a0\u00a0 Models for men and women of various heights and for children of various ages.<\/p>\n<p>g. \u00a0Exposure to rooftop maintenance workers and to members of the public that live in close proximity to multiple co-located base station antennas.<\/p>\n<p>h. \u00a0Exposure to subpopulations among maintenance employees.<\/p>\n<p>i.\u00a0\u00a0\u00a0 Chronic exposures that are similar to those from existing TV and radio antennas.<\/p>\n<p>j.\u00a0\u00a0\u00a0 Multilateral exposure to the typical arrangement of four to six antennas with multiple frequencies, rather than a single antenna radiating at a single frequency from a single direction as used in laboratory studies.<\/p>\n<p>k.\u00a0 \u00a0Exposure to others sources of RF radiation such as cordless phones, wireless computer communications, and other communications systems.<\/p>\n<p>l.\u00a0\u00a0\u00a0 Exposure to the hand or the human lap or parts of the body close to the device.<\/p>\n<p>m. RF exposure in close proximity to metallic adornments and implanted medical devices (IMDs) including metal rim glasses, earrings, and various prostheses (e.g., hearing aids, cochlear implants, cardiac pacemakers).<\/p>\n<p>n. \u00a0Models for whole-body exposure due to base station antennas.<\/p>\n<p>o. \u00a0Sufficiently long exposure and follow-up to allow for detection of effects that occur with a latency of several years.<\/p>\n<p>p. \u00a0Lack of information concerning the health effects associated with living in close proximity to base stations.<\/p>\n<p>q. \u00a0Research that includes children, the elderly, and people with underlying diseases.<\/p>\n<p>r.\u00a0\u00a0\u00a0 Research on possible adverse RF effects identified by changes in EEG\u00a0activity.<\/p>\n<p>s.\u00a0 \u00a0Lack of information on possible neurophysiologic effects developing during long-term exposure to RF fields.<\/p>\n<p>t.\u00a0\u00a0\u00a0 Studies focusing on possible adverse RF effects identified by changes in cognitive performance functions.<\/p>\n<p>u. \u00a0Effects of RF exposure to the sensitive biological targets of neural networks. v.\u00a0 \u00a0Possible effects of RF exposure on fetal and neonatal development.<\/p>\n<p>w. \u00a0Possible influences of exposure on the structure and function of the immune system, including prenatal, neonatal, and juvenile exposures.<\/p>\n<p>x.\u00a0 \u00a0Possible influences of RF exposures on the structure and function of the central nervous system, including prenatal, neonatal, and juvenile exposures.<\/p>\n<p>5. \u00a0At p. 8 CCST Report states that: <em>No clear causal relationship between RF emissions and non-thermal human health impacts has been scientifically established, nor have the mechanisms that might lead to such biological impacts been clearly identified. <\/em>In this statement CCST Report leaves the inaccurate impression that science has established the \u201cmechanism\u201d or cause of development of other diseases such as cancer, Alzheimers\u2019 Disease or ALS, which is not the case. Lack of a single mechanism for causation of adverse health effects arising from exposure to non- thermal levels of RF emissions is not a valid rationale to negate the scientific evidence demonstrating these non-thermal effects.<\/p>\n<p>6. \u00a0Illustrating inadequate protection under the current FCC RF safety policy is the experience of geophysics professor Gary Olhoeft PhD with the critical EMI problems he encounters daily with his Medtronics Deep Brain Stimulator (DBS). Prof. Olhoeft\u2019s comment was read at the first Public Comment period at the July 26-27, 2010 FCC- FDA combined public meeting on, \u201cEnabling the Convergence of Communications and Medical Systems.\u201d Despite Dr. Olhoeft\u2019s insightful analysis and account of this one example of EMI between wireless systems and his DBS, neither the FCC moderator nor the FDA moderator of the following day\u2019s panel on Electromagnetic Compatibility (EMC) raised one question on this EMI topic so critical to the life, health and well being of millions of Americans. Even the last panel discussion, Electromagnetic Compatibility \u2013 How to Promote EMC, made no mention of compatibility with implanted electronic medical devices such as Deep Brain Stimulators that treat Parkinson\u2019s patients, or insulin pumps for diabetics, for\u00a0example.<\/p>\n<p>Professor Olhoeft submitted his written Comment in the current US Department of Justice Advanced Notice of Proposed Rule Making proceeding. See also the video of his presentation at the 2009 EMRPI scientific conference, \u201cElectromagnetic Radiation Impacts on Human Health,\u201d at: <a href=\"www.youtube.com\/watch?v=jo-B6LWfVzw&amp;feature=related\">www.youtube.com\/watch?v=jo-B6LWfVzw&amp;feature=related<\/a><\/p>\n<p>7. \u00a0No federal agency is keeping track of cumulative wireless power density, nor identifying critical levels and locations where individuals who require IMDs may be at risk.<\/p>\n<p>8. \u00a0The FCC continues to issue compliance statements for new wireless devices and systems without regard for existing RF levels. Those most seriously threatened are the NIH-estimated 20 million Americans who require IMDs. These 20 million Americans account for 8-10% of the US population. The most serious threat to them is from Smart Meters and wireless broadband because of their ubiquitous deployment throughout the public\u2019s living and working environments and now throughout medical treatment settings.<\/p>\n<p>9. \u00a0In stark contrast to the lack of public health concern in key US federal and state agencies are these precautionary provisions called for in The European Parliament April 2009 Resolution approved by a vote of 559-22: <a href=\"www.europarl.europa.eu\/sides\/getDoc.do?pubRef=-\/\/EP\/\/TEXT+TA+P6-TA-2009-  0216+0+DOC+XML+V0\/\/EN\">www.europarl.europa.eu\/sides\/getDoc.do?pubRef=-\/\/EP\/\/TEXT+TA+P6-TA-2009-0216+0+DOC+XML+V0\/\/EN<\/a><\/p>\n<p>\u2022\u00a0\u00a0\u00a0\u00a0 <strong>Particular consideration of biological effects, <\/strong>especially given that some studies have found the most harmful effects at lowest levels;<\/p>\n<p>\u2022\u00a0\u00a0\u00a0\u00a0 <strong>Evaluation of potential long-term adverse effects of mobile telephony radio frequencies;<\/strong><\/p>\n<p>\u2022\u00a0\u00a0\u00a0\u00a0 Increased investigation of <strong>harmful effects of multiple exposures to different EMF <\/strong><strong>sources, <\/strong>particularly for children;<\/p>\n<p>\u2022\u00a0\u00a0\u00a0\u00a0 Member States to follow the example of Sweden and to recognize persons that suffer from electrohypersensitivity as being disabled so as to grant them adequate\u00a0protection as well as equal opportunities;<\/p>\n<p>10. Because individuals with electronic IMDs and EMR functional impairments are<\/p>\n<p>inherently sensitive to RF and EMR exposures, EMRPI strongly urges the State of California to broaden #4 of CCST Other Considerations to require Smart Grid \/ Smart Meter options that employ fiber optic and hard-wired data transmission rather than wireless transmitting Smart Meters.<\/p>\n<p>Respectfully submitted by<\/p>\n<p>The EMR Policy Institute<\/p>\n<p>Janet Newton, President<\/p>\n<p>P.O. Box 117<\/p>\n<p>Marshfield VT 05658<\/p>\n<p><em>contact information available only in attached download<\/em><\/p>\n<p><a href=\"http:\/\/www.emrpolicy.org\/\">www.emrpolicy.org<\/a><\/p>\n","protected":false},"excerpt":{"rendered":"<p>To:\u00a0\u00a0\u00a0\u00a0\u00a0\u00a0 California Council on Science and Technology Date:\u00a0 \u00a031 January 2011 RE:\u00a0\u00a0\u00a0\u00a0\u00a0 Comment on: Health Impacts of Radio Frequency from Smart Meters Response to Assembly Members Huffman and Monning (CCST Report) Cc:\u00a0\u00a0\u00a0\u00a0\u00a0 via E-mail to: California Assemblyman Jared Huffman California Assemblyman Bill Monning Thank you for the opportunity to comment on this important public healthy [&hellip;]<\/p>\n","protected":false},"author":1,"featured_media":0,"comment_status":"closed","ping_status":"open","sticky":false,"template":"","format":"standard","meta":{"footnotes":""},"categories":[1],"tags":[],"class_list":["post-365","post","type-post","status-publish","format-standard","hentry","category-uncategorized"],"_links":{"self":[{"href":"http:\/\/sagereports.com\/smart-meter-rf\/index.php?rest_route=\/wp\/v2\/posts\/365","targetHints":{"allow":["GET"]}}],"collection":[{"href":"http:\/\/sagereports.com\/smart-meter-rf\/index.php?rest_route=\/wp\/v2\/posts"}],"about":[{"href":"http:\/\/sagereports.com\/smart-meter-rf\/index.php?rest_route=\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"http:\/\/sagereports.com\/smart-meter-rf\/index.php?rest_route=\/wp\/v2\/users\/1"}],"replies":[{"embeddable":true,"href":"http:\/\/sagereports.com\/smart-meter-rf\/index.php?rest_route=%2Fwp%2Fv2%2Fcomments&post=365"}],"version-history":[{"count":5,"href":"http:\/\/sagereports.com\/smart-meter-rf\/index.php?rest_route=\/wp\/v2\/posts\/365\/revisions"}],"predecessor-version":[{"id":381,"href":"http:\/\/sagereports.com\/smart-meter-rf\/index.php?rest_route=\/wp\/v2\/posts\/365\/revisions\/381"}],"wp:attachment":[{"href":"http:\/\/sagereports.com\/smart-meter-rf\/index.php?rest_route=%2Fwp%2Fv2%2Fmedia&parent=365"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"http:\/\/sagereports.com\/smart-meter-rf\/index.php?rest_route=%2Fwp%2Fv2%2Fcategories&post=365"},{"taxonomy":"post_tag","embeddable":true,"href":"http:\/\/sagereports.com\/smart-meter-rf\/index.php?rest_route=%2Fwp%2Fv2%2Ftags&post=365"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}