Public Comment - Banning Moratorium/Precautionary Principle

Att2a Category 4 - Banning moratorium and precautionary principle comments.pdf

Collections Related to Synthetic Turf Fields with Crumb Rubber Infill

Public Comment - Banning Moratorium/Precautionary Principle

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PUBLIC SUBMISSION

As of: 5/4/16 10:00 AM
Received: February 27, 2016
Status: Posted
Posted: March 02, 2016
Tracking No. 1k0-8o78-t209
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0006
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Anonymous Anonymous

General Comment
Crumb rubber is used in more play items than 12,000 playing fields! My child's preschool has
crumb rubber safety mats under all the outdoor play gyms. In the summer heat, it smells. A
local museum has the same crumb rubber matting under an indoor play space. It stinks up the
building. This affects more than just athletes who bear the brunt of the burden. Just test the
materials already! If they are carcinogenic, BAN THIS SUBSTANCE for use in anything
involving regular human contact. Especially ban carcinogenic materials when they might be
used regularly by children. This is such a no brainer.

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PUBLIC SUBMISSION

As of: 4/14/16 1:42 PM
Received: April 06, 2016
Status: Posted
Posted: April 11, 2016
Tracking No. 1k0-8ox6-5g5r
Comments Due: April 18, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0016
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Melissa Pruess
Address: 92117
Email: [email protected]

General Comment
I am a concerned parent and am happy to see our government agencies taking a closer look at
crumb rubber infill and its potential effects on children. Small children play on these fields and
there needs to be a comprehensive look at their exposure in particular, based on the prevalence
of "hand to mouth" behaviors in small children... not just the risks of inhaled exposure or
accidental ingestion. Smaller children have a totally different absorption rate that older kids and
adults and if there is even a chance that this material can be hazardous in any way, it should be
banned completely from the elementary school levels and replaced with one of the several
available alternatives to crumb rubber.

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PUBLIC SUBMISSION

As of: 4/28/16 11:23 AM
Received: April 16, 2016
Status: Posted
Posted: April 22, 2016
Tracking No. 1k0-8p3s-rk80
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0025
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Clover Hackett
Address: 55424
Email: [email protected]

General Comment
I am a concerned parent in Edina, MN. We are currently trying to get our school board to pause
their plans to install crumb rubber in 5 athletic fields until more conclusive research is
completed. This study and its deliverable of initial results by the end of the year has been a
crucial part of our argument, that not enough is known about short and long term health effects
of this material. As of now they are moving forward, citing the current studies as their
reasoning. Thank you for researching this further and trying to make the public understand that
the current studies are LIMITED.
We need someone to take a stand for our children! I look forward to following your progress,
and sharing the updates with my school board.
I did have a question as to why, when the study was launched, it was not accompanied with a
passage of a moratorium on installation of this material? If we do not know enough about this
and we have REAL health concerns, why is it not out of the stream of commerce?
That would have helped us in Edina.

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PUBLIC SUBMISSION

As of: 4/28/16 11:24 AM
Received: April 16, 2016
Status: Posted
Posted: April 22, 2016
Tracking No. 1k0-8p3s-6b2y
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0026
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Jerry Kickenson
Address: 20902
Email: [email protected]

General Comment
The CPSC already has the authority to apply the Child protection guidelines for lead, cadmium
and Phthalates to every consumer use of this product which as you know is marketed to and for
children and adolescents primarily (see the filings to the EPA and CPSC from Public
Employees for Environmental Responsibility. PLEASE APPLY THESE REGULATIONS!
REQUIRE TESTING AND MONITORING of every individual bag of tire crumb to be used on
each playground or field and every component of the artificial turf system to which humans are
exposed. While you study, please send out warnings and impose a moratorium on the
recreational use of tire-derived products including tire crumb given all that is already known
about the myriad toxic (and untested) ingredients of tires to which humans and especially
children which were never meant to and should not be exposed.

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PUBLIC SUBMISSION

As of: 4/28/16 11:28 AM
Received: April 16, 2016
Status: Posted
Posted: April 22, 2016
Tracking No. 1k0-8p3w-a68h
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0029
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Clover Hackett
Address: 55424
Email: [email protected]

General Comment
I am very concerned about recycled tire crumb rubber being used where our children play.
I am a part of a group of parents trying to get our school board in Edina MN to stop moving
forward with their plans to replace 4 natural grass fields with artificial turf with crumb rubber,
this summer.
I was wondering why, when it was determined that not enough was known about crumb rubbers
effect on the health of our children in the short and long term and this study was launched,
WHY was no moratorium issued on installation of crumb rubber until the initial results and/or
final results were established.
That would have really helped us over here in Edina.
Thank you so much for looking into this further.

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PUBLIC SUBMISSION

As of: 4/28/16 11:31 AM
Received: April 18, 2016
Status: Posted
Posted: April 22, 2016
Tracking No. 1k0-8p54-tyhf
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0032
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Meghan Tierney-Knight
Address: 98008
Email: [email protected]

General Comment
Knowing the composition of tires I am very uncomfortable have my kids play amongst such
small bits every day. They get in your hair, socks, shoes, stuck to your clothes, in your ears, and
even mouth. The degradation of such small pieces are bound to happen allowing a release of
chemicals and heavy metals, which cannot be good for the body and or environment. As an
advocate for the environment I am supportive of recycling of tires, but not at the expense of our
children in their playgrounds and sports fields. I hope the ban of crumb rubber fill becomes the
norm for the sake of our children and the environment.

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PUBLIC SUBMISSION

As of: 4/28/16 11:32 AM
Received: April 18, 2016
Status: Posted
Posted: April 22, 2016
Tracking No. 1k0-8p55-a6g4
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0033
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Kevin McKeon

General Comment
Lacking conclusive scientific evidence regarding crumb rubber, we must accept that the
growing discussion is about RISK assessment, RISK mitigation, and RISK level acceptance.
These risks include heat stresses and injuries and, according to a recent Yale study, exposure to
99 chemicals variously listed as irritating, harmful, and suspected/known carcinogens.
Government Exposure Limits are not health-based, they are risk-based...a compromise of many
factors: environmental, scientific, financial, political, and business-friendly issues. All credible
studies prove the presence and probable exposure to these chemicals. Turf manufacturers and
installers recognize this and require users to release them from health and safety liability claims.
Studies and satellite imagery prove the creation of "heat islands" on and over crumb rubber
fields. The surface is monitored and watered when overly hot. Vigorous play in these conditions
results in burns, dehydration, heat stress, or heat stroke. Kids bodies, being closer to the heat
source, with a higher surface-area/body-mass ratio, producing more body heat per unit mass,
and sweating less than adults, are particularly susceptible to heat stresses.
Over time, crumb rubber reacts with light, heat, air, seasonal temperature fluctuations,
mechanical agitation from play and maintenance operations, etc., becoming hard, brittle,
cracked, discolored, and powdered; this hardening and cracking can be noticed on old sneakers.
The CDC's 2008 advisory says that as turf ages and weathers, "lead is released in dust that
could then be ingested or inhaled." This rubber erosion happens down to the molecular level,
resulting in a persistent atmospheric chemical contamination over the playing fields and their

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immediate areas. (More on this later).
The most dangerous item of this disintegration process could prove to be carbon nanotubes.
About 30% of a tire is composed of carbon black; puff out a candle...that black, wispy stuff is
carbon black. Engineered carbon nanotubes (and other engineered nanoparticles...zinc, titanium,
etc.) are made in specific shapes to give strength and durability to tires. It is the long thin nature
of engineered carbon nanotubes that has scientists comparing them with asbestos; studies
suggest that inhaling carbon nanotubes could lead to the same cancer and breathing problems
that prompted a ban on asbestos, and carbon nanotube exposure tests on mice result in the
formation of lesions known as granulomas. From Dr. Kathleen Michels, Neuroscientist,
Administrator, National Institute of Health: "...it has the potential to wreck everything in its
path. First, it has been declared a possible carcinogen by the US government and by the World
Health Organization. Then, carbon black used in tires consists of the purest, smallest (ultra-fine)
nanoparticles giving them a unique potential toxicity throughout the body. ...when you
pulverize tires for use in children's playing fields, they become more available to interact with
the environment and people with weathering and the impact of each child's footfall and
body...When children's life-long health is at stake, the precautionary principle should apply."
Toxicologist Dr. David Brown, Emeritus, (Public Health Toxicologist and Director of Public
Health Toxicology for Environment and Human Health, Inc.) says that tire crumb off-gases 24
harmful materials, and that the amount of off-gassing increases as the tire crumb heats. Carbon
black, which makes up 30% of black tires, is carcinogenic and breaks down into very small
particles called nano-particles. Those small carbon black particles attach onto the surface of the
gases, which then penetrate into the deep lung as the child breathes. These gas/particle mixtures
are 10-20 times more toxic than the materials alone. We know from air pollution studies that
looked at these mixtures that they cause serious disease." These nanoparticles are known to pass
the blood/brain barrier, attacking at the molecular level; some scientists state the need for
studying the effects of nanotubes on DNA function.
During heat mitigation operations, water is sprayed over the field causing evaporative cooling.
The rising water vapor picks up these nanotubes and atmospheric contamination mentioned
earlier, causing an unseen but dangerous "fog of chemicals" within which the kids are playing.
The resultant risk to our kids safety and health is intuitively obvious, and as part of their
decision process, the decision makers should apply The Precautionary Principle: "When an
activity raises threats of harm to human health or the environment, precautionary measures
should be taken even if some cause and effect relationships are not fully established
scientifically." Examples of the essence of the Precautionary Principe are: "an ounce of
prevention is worth a pound of cure", "better safe than sorry", "look before you leap", and the
well known medical oath "First, Do No Harm".

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PUBLIC SUBMISSION

As of: 5/3/16 6:18 PM
Received: April 29, 2016
Status: Posted
Posted: April 29, 2016
Tracking No. 1k0-8pcg-82s1
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0045
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Maya van Rossum
Address: 19007
Email: [email protected]

General Comment
The Delaware Riverkeeper Network submits the attached comment for your consideration.
In addition to the attached comment we would like to request that Maya van Rossum, the
Delaware Riverkeeper, on behalf of the Delaware Riverkeeper Network, be identified as a
stakeholder for participation in your process. Ms. van Rossum has engaged in a significant
amount of research and community education and advocacy around the issue of synthetic turf
fields, particularly those with crumb rubber infill, and would bring an important environmental
and community perspective to your deliberations. Ms. van Rossum is the primary author on the
documents we are submitting today.
Ms. van Rossum can be reached at:
[email protected]
or by phone at 215 369 1188 ext 102
Respectfully submitted and requested.

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(p.s. the action alert document submitted previously was submitted in error and need not be
entered for the record.)

Attachments
Comment 4.29.16 ATSDR & EPA re Art Turf study

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April	29,	2016	
	
Leroy	A.	Richardson,	Information	Collection	Review	Office	
Centers	for	Disease	Control	and	Prevention	
1600	Clifton	Road	NE.,	MS-D74	
Atlanta,	Georgia	30329.	
	
Federal	eRulemaking	Portal:	Regulation.gov	
	
Re:		Docket	No.	ATSDR-2016-0002		
	
Dear	Mr.	Richardson,	
	
Conducting	additional	research	into	the	health	and	environmental	impacts	synthetic	turf	fields	with	
crumb	rubber	infill	is	essential.		Crumb	Rubber	turf	fields	are	proliferating	quickly	through	
communities	with	schools	and	municipalities	constructing	crumb	rubber	fields	to	accommodate	kids	
playing	sports	of	all	ages	from	elementary	level	on	up.			In	every	instance	school	district	and	town	
officials	cite	industry	funded	research	as	a	primary	demonstration	of	safety.		Inadequate	Government	
documents	are	of	little	help	in	countering	such	assertions	or	information	the	decisionmaking	process	
as,	to	the	degree	they	exist,	they	are	very	limited	in	scope,	they	often	rely	on	industry-provided	
information,	and	they	often	rely	on	an	absence	of	information	as	somehow	supporting	a	
demonstration	of	no	harm.			A	thorough	and	independent	investigation	is	essential	if	we	are	to	protect	
children,	adults	and	the	environment	from	the	harms	of	crumb	rubber	artificial	turf.	
	
The	Delaware	Riverkeeper	Network	would	also	like	to	suggest	that	research	into	the	impacts	of	other	
artificial	turf	infill	materials	is	important	given	that	they	too	are	the	subject	of	a	multitude	of	claims	of	
safety	backed	by	little	but	industry	marketing	materials	and	industry	funded	research.			
	
I	believe	it	will	be	important	to	include	an	organization	like	the	Delaware	Riverkeeper	Network	
among	your	stakeholders.		We	have	had	to	engage	in	significant	research	into,	and	advocacy	about,	
artificial	turf,	its	environmental	and	health	impacts	on	a	number	of	occasions	over	the	past	8+	years.	
As	a	result	we	have	a	significant	and	healthy	understanding	of	the	science	and	the	issues	that	have	
been	and	need	to	be	evaluated.			
	
I	include	with	this	comment	a	series	of	fact	sheets	and	informational	materials	created	by	my	
organization	to	help	inform	local	debates	regarding	the	construction	or	expansion	of	artificial	turf	
DELAWARE RIVERKEEPER NETWORK
925 Canal Street, Suite 3701
Bristol, PA 19007
Office: (215) 369-1188
fax: (215)369-1181
[email protected]
www.delawareriverkeeper.org

fields.		In	these	materials	we	cite	a	number	of	scientific	and	government	materials	that	assess	the	
environmental	and	health	impacts	of	crumb	rubber	artificial	turf.		We	would	like	to	submit	them	for	
the	record	and	your	consideration.	
	
Synthetic	turf	is	generally	made	with	rubber	from	waste	tires.		Recycled	rubber	varies	considerably	in	
its	chemical	composition,	even	when	from	the	same	manufacturer.1		Hazardous	substances	found	in	
tires	may	persist	in	the	environment	including	polycyclic	aromatic	hydrocarbons	(PAHs),	phthalates	
and	certain	metals.		These	substances	may	be	bioaccumulative,	carcinogenic,	reprotoxic,	mutagenic	
and/or	endocrine	disrupting.2			
	
• Most	PAHs	are	persistent,	bioaccumulative	and	carcinogenic.3			
• Phthalates	are	generally	used	as	solvents	and	plasticisers	in	plastics.		Phthalates	are	not	
chemically	bound	to	the	rubber	and	as	a	result	can	leach	from	the	infill	material.4			
• Phenols	likewise	are	not	chemically	bound	to	the	rubber	and	so	can	leach.		Phenols	too	are	
persistent	and	bioaccumulative	and	can	have	long-term	effects	on	the	environment.5			
• Among	the	metals	found	in	tires	that	may	be	of	concern	are	zinc,	lead,	copper,	chromium	and	
cadmium.	While	zinc	and	copper	are	essential	for	living	organisms,	when	absorbed	at	high	
levels	they	become	harmful.		Lead	can	affect	reproduction,	development	of	the	nervous	system	
leading	to	poor	cognitive	development,	and	is	a	particular	threat	to	fetuses	and	young	children.		
Chromium	is	carcinogenic	and	mutagenic.		Cadmium	is	toxic	to	humans	and	if	taken	in	can	
contribute	to	poor	liver	and	kidney	function,	as	well	as	osteoporosis.	6	
	
Playing	on	Artificial	Turf	brings	threats	of	exposure	to	hazardous	substances	through	a	variety	
of	pathways.	
Direct	human	exposure	to	the	hazardous	substances	contained	in	the	rubber	in-fill	of	artificial	turf	is	
believed	to	occur	via	three	pathways:		inhalation,	skin	contact,	and/or	ingestion	including	by	children	
who	come	into	contact	with	the	material.7	
	
A	2012	study	focused	on	the	threat	of	lead	ingestion	from	artificial	turf	noted	that	lead,	in	the	“case	of	
chronic	exposure	in	early	childhood,	can	induce	cell	necrosis,	nerve	behavioral	abnormalities	and	
developmental	disability,	and	in	the	case	of	long-term	exposure	it	can	induce	cell	necrosis,	blood	
pressure,	cancer,	and	kidney	tumor.”8		In	this	study	researchers	considered	the	impacts	for	lead	
exposure	from	children	who	ingest	rubber	powder	resulting	from	exposure	to	crumb	rubber	infill	
artificial	turf.		The	research	showed	elementary	school	children	had	a	hazard	index	that	exceeded	0.1,	

1	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	

December	2005,	p.	7.	
2	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
3	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
4	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
5	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
6	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
7	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
8	Kim,	S.,	Yang,	J.-Y.,	Kim,	H.-H.,	Yeo,	I.-Y.,	Shin,	D.-C.,	&	Lim,	Y.-W.	(2012).	Health	Risk	Assessment	of	Lead	Ingestion	
Exposure	by	Particle	Sizes	in	Crumb	Rubber	on	Artificial	Turf	Considering	Bioavailability.	Environmental	Health	and	
Toxicology,	27,	e2012005.	http://doi.org/10.5620/eht.2012.27.e2012005.	

Page 2 of 12

a	level	that	is	considered	a	“potential	for	hazard”.	9		Middle	and	high	school	children	were	also	found	
to	have	exposure	levels.	
	
In	2011,	research	conducted	for	the	New	Jersey	Department	of	Environmental	Protection	began	
investigation	into	the	potential	for	players	on	artificial	turf	fields	to	be	exposed	to	lead,	chromium,	
arsenic	and	cadmium	as	a	respirable/inhalable	aerosol.10		In	air	samples	collected	from	the	turf	
during	various	levels	of	activity,	researchers	detected	arsenic,	cadmium,	chromium	and	lead,	all	
metals	with	known	human	toxicity.	11		“The	findings	of	this	study,	although	limited	in	scope,	raise	
some	concerns	with	regard	to	the	potential	hazards	that	may	exist	for	individuals	and	in	particular	
children	who	engage	in	sports	activities	on	artificial	turf	fields.”	12			The	research	demonstrated	that	
activity	by	players	on	the	fields	could	suspend	contaminated	particulates	into	the	air	that	could	be	
inhaled.		“The	findings	show	that	both	inhalable	PM	[particulate	matter],	as	well	as	inhalable	lead	
(when	present)	are	resuspended	from	even	minor	physical	activity	on	an	artificial	surface.		These	data	
therefore	indicates	that	human	exposure	from	lead-containing	artificial	turf	fields	is	not	just	limited	to	
dermal,	but	also	to	inhalation	route	of	exposure.”	13		The	three	potential	avenues	for	lead	from	
artificial	turf	are	the	blades	of	artificial	grass,	the	pigment	used	for	the	field	markings	and	lines,	and	
the	infill	material.			Even	studies	that	have	not	found	exposure	levels	to	lead	high	enough	to	be	of	
concern	in	the	context	of	the	study	conducted	are	careful	to	point	out:	“some	health	scientists	believe	
that	any	Pb	[lead]	is	harmful	to	children’s	neurocognitive	development,	and	that	no	new	Pb	should	be	
added	to	their	surroundings”14	and	that	“…physicians	should	be	aware	of	synthetic	turf	as	pone	
potential	source	of	exposure	for	young	children.		Health	officials	investigating	elevated	blood	lead	in	
children	should	also	be	aware	of	synthetic	turf	as	a	potential	source	of	lead	exposure.”15	
	
Furthermore,	a	2008	study	that	looked	at	a	variety	of	contaminants	associated	with	artificial	turf	did	
find	that	the	lead	present	in	the	rubber	granules,	while	at	low	levels,	was	“highly	bioaccessible”	to	
synthetic	gastric	fluid	used	in	their	research.			This	study	also	found	a	“slightly	worrisome”	level	of	
chromium	in	an	artificial	turf	fiber	sample	and	“high	bioaccessible	fractions	of	lead	in	both	synthetic	
gastric	and	intestinal	fluids.16	
			
9	Kim,	S.,	Yang,	J.-Y.,	Kim,	H.-H.,	Yeo,	I.-Y.,	Shin,	D.-C.,	&	Lim,	Y.-W.	(2012).	Health	Risk	Assessment	of	Lead	Ingestion	

Exposure	by	Particle	Sizes	in	Crumb	Rubber	on	Artificial	Turf	Considering	Bioavailability.	Environmental	Health	and	
Toxicology,	27,	e2012005.	http://doi.org/10.5620/eht.2012.27.e2012005.	
10	S.L.	Shalat,	Sc.D.,	“An	Evaluation	of	Potential	Exposures	to	Lead	and	Other	Metals	as	the	Result	of	Aerosolized	Particulate	
Matter	from	Artificial	Turf	Playing	Fields,	Final	Report”,	submitted	to	NJ	Department	of	Environmental	Protection,	July	14,	
2011.	
11	S.L.	Shalat,	Sc.D.,	“An	Evaluation	of	Potential	Exposures	to	Lead	and	Other	Metals	as	the	Result	of	Aerosolized	Particulate	
Matter	from	Artificial	Turf	Playing	Fields,	Final	Report”,	submitted	to	NJ	Department	of	Environmental	Protection,	July	14,	
2011.	
12	S.L.	Shalat,	Sc.D.,	“An	Evaluation	of	Potential	Exposures	to	Lead	and	Other	Metals	as	the	Result	of	Aerosolized	Particulate	
Matter	from	Artificial	Turf	Playing	Fields,	Final	Report”,	submitted	to	NJ	Department	of	Environmental	Protection,	July	14,	
2011.	
13	S.L.	Shalat,	Sc.D.,	“An	Evaluation	of	Potential	Exposures	to	Lead	and	Other	Metals	as	the	Result	of	Aerosolized	Particulate	
Matter	from	Artificial	Turf	Playing	Fields,	Final	Report”,	submitted	to	NJ	Department	of	Environmental	Protection,	July	14,	
2011.	
14
J.	Zhang,	I.	Han,	L.	Zhang,	W.	Crain,	“Hazardous	Chemicals	in	synthetic	turf	materials	and	their	bioaccessibility	in	
digestive	fluids,”	Journal	of	Exposure	Science	and	Environmental	Epidemiology	(2008)	
15	G.	Van	Ulirsch	et.	al,	Evaluating	and	Regulating	Lead	in	Synthetic	Turf,	Commentary,	Environmental	Health	Perspectives,	
Vol	118,	No.	10,	Oct.	2010.	
16
J.	Zhang,	I.	Han,	L.	Zhang,	W.	Crain,	“Hazardous	Chemicals	in	synthetic	turf	materials	and	their	bioaccessibility	in	
digestive	fluids,”	Journal	of	Exposure	Science	and	Environmental	Epidemiology	(2008)	

Page 3 of 12

In	October	2006	and	January	2007,	respectively,	two	sites	in	New	York	where	synthetic	turf	has	been	
used	(a	large,	then	3	year	old,	Parade	Ground	in	Brooklyn;	a	relatively	small	then	5	month	old	Sara	D.	
Roosevelt	Park	in	Manhattan)	were	analyzed.		This	testing	found	PAHs	at	hazardous	levels	(as	per	
New	York	standards)	at	each	of	the	sites.		At	both	sites	dibenzo	(a.h)anthracene,	a	probable	human	
carcinogen,	was	found	at	hazardous	levels,	with	two	other	PAH	forms,	both	possible	human	
carcinogens,	found	at	hazardous	levels	at	the	Parade	Ground	site.			A	2008	study	also	found	that	the	
rubber	granules	found	in	artificial	turf	fields	had	PAH	levels	above	health-based	soil	standards,	that	
there	was	“low”	but	not	“no”	bioaccessibility,	and	that	while	levels	appear	to	decline	over	time	this	
can	be	altered	by	the	fact	that	new	rubber	can	be	added	periodically	to	compensate	for	the	loss	of	
infill	material.17	Additional	research	is	needed	into	the	pathways	by	which	these	substances	may	be	
absorbed	into	the	bodies	of	children	and	athletes	via	skin	contact,	ingestion	or	other	pathways18	-	but	
the	need	for	additional	research	does	not	displace	the	concerns	raised	by	these	findings.	
	
Analyses	conducted	at	the	Environmental	and	Occupational	Health	Sciences	Institute	of	Rutgers	
University	found	the	crumb	rubber	from	artificial	turf	to	contain	high	levels	of	PAHs,	as	well	as	zinc	
and	arsenic.19		PAHs	found	to	be	contained	in	the	crumb	rubber	“were	above	the	concentration	levels	
that	the	New	York	State	Department	of	Environmental	Conservation	(DEC)	considers	sufficiently	
hazardous	to	public	health	to	require	their	removal	from	contaminated	soil	sites.	It	is	highly	likely	
that	all	six	PAHs	are	carcinogenic	to	humans.”	20			“The	analyses	also	revealed	levels	of	zinc	in	both	
samples	that	exceed	the	DEC's	tolerable	levels.”	21			The	researchers	associated	with	these	findings	
were	careful	to	state	“We	want	to	emphasize	that	the	findings	are	preliminary.	PAHs	in	rubber	might	
not	act	the	same	way	as	in	soil,	and	we	do	not	yet	have	information	on	the	ease	with	which	the	PAHs	
in	these	rubber	particles	might	be	absorbed	by	children	or	adults	--	by	ingestion,	inhalation,	or	
absorption	through	the	skin.	However,	the	findings	are	worrisome.	Until	more	is	known,	it	wouldn't	
be	prudent	to	install	the	synthetic	turf	in	any	more	parks.”	22	
	

J.	Zhang,	I.	Han,	L.	Zhang,	W.	Crain,	“Hazardous	Chemicals	in	synthetic	turf	materials	and	their	bioaccessibility	in	
digestive	fluids,”	Journal	of	Exposure	Science	and	Environmental	Epidemiology	(2008)	
18	Rachel’s’	Democracy	&	Health	News	#992,	Hazardous	Chemicals	in	Synthetic	Turf,	Follow-up	Analyses,	April	12,	2007.	
19	Junfeng	Zhang,	professor	and	acting	chair,	Department	of	Environmental	and	Occupational	Health,		
the	School	of	Public	Health,	the	University	of	Medicine	and	Dentistry	of	New	Jersey	and	Rutgers	University	&	William	
Crain,	professor	of	psychology	at	The	City	College	of	New	York,	president	of	Citizens	for	a	Green	Riverside	Park,		
Hazardous	Chemicals	in	Synthetic	Turf,	2006,	analyses	conducted	at		at	the	Environmental	and	Occupational	Health	
Sciences	Institute	of	Rutgers.	
20	Junfeng	Zhang,	professor	and	acting	chair,	Department	of	Environmental	and	Occupational	Health,		
the	School	of	Public	Health,	the	University	of	Medicine	and	Dentistry	of	New	Jersey	and	Rutgers	University	&	William	
Crain,	professor	of	psychology	at	The	City	College	of	New	York,	president	of	Citizens	for	a	Green	Riverside	Park,		
Hazardous	Chemicals	in	Synthetic	Turf,	2006,	analyses	conducted	at		at	the	Environmental	and	Occupational	Health	
Sciences	Institute	of	Rutgers.	
21	Junfeng	Zhang,	professor	and	acting	chair,	Department	of	Environmental	and	Occupational	Health,		
the	School	of	Public	Health,	the	University	of	Medicine	and	Dentistry	of	New	Jersey	and	Rutgers	University	&	William	
Crain,	professor	of	psychology	at	The	City	College	of	New	York,	president	of	Citizens	for	a	Green	Riverside	Park,		
Hazardous	Chemicals	in	Synthetic	Turf,	2006,	analyses	conducted	at		at	the	Environmental	and	Occupational	Health	
Sciences	Institute	of	Rutgers.	
22	Junfeng	Zhang,	professor	and	acting	chair,	Department	of	Environmental	and	Occupational	Health,		
the	School	of	Public	Health,	the	University	of	Medicine	and	Dentistry	of	New	Jersey	and	Rutgers	University	&	William	
Crain,	professor	of	psychology	at	The	City	College	of	New	York,	president	of	Citizens	for	a	Green	Riverside	Park,		
Hazardous	Chemicals	in	Synthetic	Turf,	2006,	analyses	conducted	at		at	the	Environmental	and	Occupational	Health	
Sciences	Institute	of	Rutgers.	
17

Page 4 of 12

A	study	by	the	California	Office	of	Environmental	Health	Hazard	Assessment	(OEHHA)	summarized	
46	studies	that	identified	49	chemicals	which	are	released	from	tire	crumb.	Of	the	49,	“seven	of	the	
chemicals	leached	from	tire	shreds	were	carcinogens.		OEHHA	calculated	a	cancer	risk	of	1.2	in	10	
million	based	on	a	one-time	ingestion	of	the	tire	crumb	rubber	over	a	lifetime.”23		While	there	are	
limited	studies	which	assert	that	recycled	tire	crumb	are	stable	in	the	gastrointestinal	tract	and	that	
therefore	this	is	not	a	pathway	for	exposure,	there	are	other	studies	which	contradict	these	findings.24	
	
Concerns	have	been	raised	about	the	potential	implications	of	recycled	tire	in-fill	for	individuals	with	
latex	allergies	and	that	inhalation	could	result	in	a	systemic	response,	as	opposed	to	a	contact	
response.25			
	
Asserted	one	analysis,	while,	“the	status	of	the	information	about	human	exposures	to	recycled	tire	
crumb	rubber	in-fill	…	is	not	sufficient	to	determine	the	safety	of	the	use	of	the	product	in	situations	
that	involve	continuous	episodes	of	human	exposure;”	26	“the	available	information	is	sufficient	and	
strong	enough	to	raise	plausible	questions	with	respect	to	acute	toxicity	for	susceptible	persons,	and	
for	cancer	risks.”27			
	
Chrysene,	a	PAH	and	carcinogen,	was	found	to	be	ingested	as	the	result	of	hand-to-surface-to-mouth	
transfer	from	playground	surfaces	made	with	recycled	tires.		Assuming	playground	use	for	an	11	year	
period	(from	age	1	to	12)	there	was	found	to	be	an	increased	cancer	risk	of	2.9	in	one	million		
(2.9	X	10-6).		This	risk	is	greater	than	the	general	cancer	risk	gauge	of	one	in	one	million	(1X10-6).28		
This	research	would	seem	to	suggest	that	repeat	exposure	over	time	to	the	chemicals	released	from	
artificial	turf	increases	the	associated	increase	in	cancer	risk.	
	
The	hot	temperatures	create	additional	concern	for	exposing	players	to	dangerous	toxins.		As	well	
explained	by	a	well	cited	petition	to	the	Consumer	Product	Safety	Commission	for	rulemaking:		“When	
tires	are	shredded	and	pulverized,	their	surface	area	increases	exponentially,	as	does	the	particulate	
and	gas	yield	from	the	tire	material.		Since	tires	are	made	of	very	harmful	materials,	including	24	
gases	found	to	be	harmful	to	humans,	carbon	black,	(a	carcinogen	which	makes	up	30%	of	tires),	latex,	
benzothiazoles,	phthalates,	lead,	mercury,	cadmium,	zinc	and	many	other	known	toxins,	when	the	
fields	heat	up,	they	become	increasingly	dynamic.		Of	primary	concern	is	the	interaction	of	particles	
and	gases,	‘because	when	particles	adsorb	onto	the	surface	of	gases,	they	become	10-20	times	more	
toxic	than	the	materials	themselves.’	The	fields	yield	continuously,	but	become	more	dynamic	and	
more	toxic	as	they	heat	up.”29	
	
A	Case	Study	conducted	by	a	group	of	“physicians	and	public	health	professionals	working	with	the	
U.S.	Environmental	Protection	Agency’s	Region	Pediatric	Environmental	Health	Specialty	Unit”	found	
23	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007	citing	California	Office	of	

Environmental	Health	Hazard	Assessment	(OEHHA),	Evaluation	of	Health	Effects	of	Recycled	Waste	Tires	in	Playground	
and	Track	Products,	January,	2007.	
24	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
25	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
26	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
27	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
28	Office	of	Environmental	Health	Hazard	Assessment,	Evaluation	of	Health	Effects	of	Recycled	Waste	Tires	in	Playground	
and	Track	Products,	January	2007.	Note	--	the	1.2	in	10	million	cancer	risk	found	in	the	OEHHA	study	was	considered	by	
the	authors	to	be	an	acceptable	level	of	risk	as	it	falls	below	the	general	cancer	risk	gauge	of	one	in	one	million	(1X10-6).	
29	Petition	for	a	Rulemaking	on	Surface	Heat	from	Artificial	Turf,	Submitted	by	PEER	to	Consumer	Product	Safety	
Commission,	Sept	6,	2012.	

Page 5 of 12

that	they	could	not	secure	the	research	and	information	necessary	to	establish	the	safety	in	use	with	
children	of	tire	crumb	used	as	playground	surface.30		“The	use	of	recycled	tire	crumb	products	on	
playgrounds	has	had	little	health	investigation.		The	major	unresolved	concern	is	the	potential	for	
latex	allergy	with	short-term	dermal	exposure.”	31		“No	published	information	is	available	specifically	
regarding	exposure	to	crumb	rubber	constituents	from	use	of	the	product	on	playgrounds.”	32	
	
Excessive	heat	is	a	major	health	threat	for	those	that	play	on	artificial	turf.			
Extreme	heat	is	a	health	concern	–	high	surface	temperatures	found	on	artificial	turf	fields	can	
contribute	to	physiological	stress	and	cause	“serious	heat-related	illnesses”.33		Heat	stress,	heat	stroke	
and	burns	are	all	of	concern.		In	fact,	the	“New	York	City	Department	of	Health	and	Mental	Hygiene	
recognizes	excessive	surface	temperatures	as	the	most	important	health	concern	associated	with	
infilled	synthetic	turf.”	34		Studies	document	that	the	surface	temperature	on	artificial	turf	is	
dramatically	increased	as	compared	to	surrounding	land	uses	including	asphalt	–	so	much	so	that	it	is	
a	genuine	health	threat	for	players.					
	
Concerns	regarding	the	excessive	temperatures	range	from	the	implications	for	players	who	are	
already	exerting	themselves	playing	in	such	excessively	high	temperatures,	to	the	implications	for	
burns	when	players	or	pedestrians	come	into	contact	with	the	hot	surfaces,	to	the	implications	for	
small	children	who	may	come	into	contact	with	the	extremely	hot	surfaces	during	non-sporting	
events.		Research	has	also	concluded	that	the	“heat	transfer	from	the	surface	to	the	sole	of	the	
individual’s	foot”	could	contribute	to	physiological	stress	of	players.	35	
	
In	a	2002	study	it	was	found	that	“the	surface	temperature	of	the	synthetic	turf	was	37°	F	higher	than	
asphalt	and	86.5°	F	hotter	than	natural	turf.”	36		A	study	published	in	the	Journal	of	Health	and	
Physical	Education	and	Recreation	showed	“surface	temperatures	as	much	as	95	to	140	degrees	
Fahrenheit	higher	on	synthetic	turf	than	natural	turf	grass	when	exposed	to	sunlight.”	37		Random	
sampling	at	Brigham	Young	University	identified	temperatures	ranging	from	117.38	to	157	degrees	
on	artificial	turf	while	neighboring	natural	grass	areas	were	in	the	range	of	78.19	to	88.5	degrees	
Fahrenheit.		“Two	inches	below	the	synthetic	turf	surface	was	28.5°	F	hotter	than	natural	turf	at	the	
surface.”38	Another	study	comparing	temperatures	on	artificial	turf	temperatures	with	air	
temperature	found	that	artificial	turf	ranged	from	58	to	75	degrees	hotter	than	measured	air	
temperature.39		And	yet	another	study	considering	found	ranges	of	155.3	to	173.4	degrees	on	the	turf	
30	M.E.	Anderson	et	al,	A	Case	Study	of	tire	Crumb	Use	on	Playgrounds:		Risk	Analysis	and	Communication	When	Major	

Clinical	Knowledge	Gaps	Exist,	Environmental	Health	Perspectives,	Vol	114,	No.	1,	January	2006.	
31	M.E.	Anderson	et	al,	A	Case	Study	of	tire	Crumb	Use	on	Playgrounds:		Risk	Analysis	and	Communication	When	Major	
Clinical	Knowledge	Gaps	Exist,	Environmental	Health	Perspectives,	Vol	114,	No.	1,	January	2006.	
32	M.E.	Anderson	et	al,	A	Case	Study	of	tire	Crumb	Use	on	Playgrounds:		Risk	Analysis	and	Communication	When	Major	
Clinical	Knowledge	Gaps	Exist,	Environmental	Health	Perspectives,	Vol	114,	No.	1,	January	2006.	
33
T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
34
T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
35
T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
36	Dr.	C.	Frank	Williams	and	Dr.	Gilbert	E.	Pulley,	Synthetic	Surface	Heat	Studies,	Brigham	Young	University.	
37	SportsTurf	Managers	Association,	A	Guide	to	Synthetic	and	natural	Turfgrass	for	Sports	Fields,	Selection,	Construction	
and	Maintenance	Considerations.			
38	Dr.	C.	Frank	Williams	and	Dr.	Gilbert	E.	Pulley,	Synthetic	Surface	Heat	Studies,	Brigham	Young	University.	
39	T.	Sciacca,	The	Thermal	Physics	of	Artificial	Turf,	January	2008.	

Page 6 of 12

fields	when	air	temperatures	were	in	the	76	degree	range;	and	104.2	to	159.3	degrees	when	air	
temperatures	were	in	the	77	degree	range.	40			
	
Research	has	not	found	good	solutions	for	the	excessive	heat	levels	of	turf.		Irrigation	of	excessively	
hot	artificial	turf	surfaces	only	provides	cooling	benefits	for	about	20	minutes.	41		While	irrigation	
provides	cooling	for	the	synthetic	turf,	in	one	seminal	study	lowering	the	temperature	from	174°	F	to	
85°	F,	after	only	5	minutes	the	temperature	quickly	rose	again	to	120°F;	after	20	minutes	it	rose	to	
164°F.42		In	another	important	body	of	work	by	Penn	State,	it	was	found	again	that	irrigation	is	only	
successful	in	reducing	temperatures	for	about	20	minutes,	with	a	rebound	to	within	10	degrees	of	the	
pre-irrigation	temperature	within	3	hours.	43		The	use	of	white	crumb	rubber	as	the	infill	does	not	
resolve	the	heat	issue.	44		In	fact,	according	to	Penn	State	as	part	of	a	study	which	looked	at	various	
color	options	for	infill	and	temperature,	“[w]hile	marketing	materials	may	claim	lower	surface	
temperatures,	no	scientific	reports	exist	that	substantiate	such	claims.”45	
	
Natural	grass,	by	comparison,	provides	a	natural	cooling	affect	and	helps	to	dissipate	heat	from	
neighboring	developed	areas.46		“The	temperature	of	natural	grass	rarely	rises	above	85	degrees	
Fahrenheit,	regardless	of	air	temperature.”	47	
	
The	heat	impacts	of	artificial	turf	need	to	be	considered	in	the	context	of	today’s	changing	climate.		
Global	climate	change	is	expected	to	dramatically	increase	the	number	of	days	over	100	degrees	in	
many	communities.		Depending	on	how	aggressively	global	warming	gasses	are	reduced	in	coming	
years,	communities	nearby	Philadelphia	will	begin	to	experience	in	the	range	of	10	days	(in	lower	
emission	scenarios)	to	30	days	(if	higher	emission	scenarios	continue	to	prevail)	over	100	degrees.48		
By	later	in	this	century	seasonable	temperatures	are	projected	to	rise	6oF	to	14oF	in	summer	
(depending	again	on	emission	reductions	achieved	in	the	future).	49			
	
Concerns	for	increased	head	injuries	and	bacterial	infections	as	the	result	of	playing	on	turf	
are	justified.	
There	is	great	concern	that	the	increased	level	of	abrasions	and	burns	which	result	from	playing	on	an	
artificial	turf	field	as	compared	to	natural	grass	increases	the	pathways	by	which	bacterial	infections,	
such	as	MRSA	(methicillin-resistant	staphylococcus	aureus),	can	enter	the	body.		As	explained	in	a	
2011	Penn	State	study,	“It	is	important	to	note	that	synthetic	turf	is	more	abrasive	than	natural	turf	
grass	and,	as	a	result,	breaks	in	the	skin	are	more	common,	creating	a	pathway	for	infection	when	in	
40	Penn	State’s	Center	for	Sports	Surface	Research,	Synthetic	Turf	Heat	Evaluation	–	Progress	Report,	January	2012.	

T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
42	Dr.	C.	Frank	Williams	and	Dr.	Gilbert	E.	Pulley,	Synthetic	Surface	Heat	Studies,	Brigham	Young	University.	
43
T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
44
T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
45	Penn	State’s	Center	for	Sports	Surface	Research,	Synthetic	Turf	Heat	Evaluation	–	Progress	Report,	January	2012.	
46	James	B.	Beard	&	Robert	L.	Green,	The	Role	of	Turfgrasses	in	Environmental	Protection	and	Their	Benefits	to	Humans,	J.	
Environ	Qual.	23:452-460	(1994).	
47	SportsTurf	Managers	Association,	A	Guide	to	Synthetic	and	natural	Turfgrass	for	Sports	Fields,	Selection,	Construction	
and	Maintenance	Considerations.			
48	Union	of	Concerned	Scientists,	Confronting	Climate	Change	in	the	U.S.	Northeast	l	New	Jersey,	2007.	
49	Union	of	Concerned	Scientists,	Confronting	Climate	Change	in	the	U.S.	Northeast	l	New	Jersey,	2007.	
41

Page 7 of 12

contact	with	an	infected	surface.”	50		There	are	studies	to	indicate	that	turf	burns	may	be	facilitating	
infection	by	acting	as	a	pathway	for	infection.51		Study	has	found	that	turf	burns	increased	the	risk	of	
infection	regardless	of	the	type	and	timing	of	care	provided	the	burn.	52	
	
Older	turf	fields	have	been	found	to	have	higher	microbial	populations,	as	well	as	higher	levels	in	the	
higher	traffic	areas	such	as	the	sidelines,	thereby	suggesting	to	researchers	that	microbial	populations	
can	accumulate	in	synthetic	turf	over	time.53	
	
Concussions	(formally	described	as	Mild	Traumatic	Brain	Injury	or	MTBI)	resulting	from	sports	has,	
according	to	the	US	Centers	for	Disease	Control,	reached	“epidemic	proportions.”54		“’Mild’	head	
traumas,	and	especially	a	series	of	such	minor	concussions	can	have	long	term,	negative	effects	on	
cognitive	function.”	55		Study	has	documented	that	artificial	turf	increases	the	risk	of	MTBI	over	
natural	turf,	approximately	doubling	that	risk,	as	well	as	causing	a	greater	degree	of	trauma.56		
According	to	study,	artificial	turf	presents	a	5	times	greater	risk	of	the	more	severe	head	injury	than	
natural	turf,	although	it	is	still	unknown	the	particular	characteristics	of	the	two	surfaces	that	cause	
the	difference	in	head	injury	incidence.	57			Only	31%	of	the	playground	surfaces	made	of	recycled	
tires	tested	in	one	research	study	passed	the	California	State	mandated	Head	Impact	Criterion	(HIC)	
of	<1,000.		In	this	same	study	100%	of	the	playground	surfaces	made	of	wood	chips	passed	the	same	
standard.	58	
	
Research	shows	there	are	adverse	environmental	impacts	resulting	from	crumb	rubber	infill	
artificial	turf;	it	is	also	clear	that	additional	study	for	water	and	other	natural	resources	is	
needed.	
While	it	seems	well	recognized	that	there	is	a	limited	level	of	assessment	and	investigation	into	the	
environmental	impacts	associated	with	artificial	turf,	a	growing	body	of	scientific	analysis	is	

T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
51	A	High	Morbidity	Outbreak	of	Methicillin-Resistant	Staphylococcus	aureus	among	Players	on	a	College	Football	Team,	
Facilitated	by	Cosmetic	Body	Shaving	and	Turf	Burns,	study	conducted	2004	for	Connecticut	Dept	of	Public	Health,	
Student	Health	Services	of	Sacred	Heart	Univ,	Centers	for	Disease	Control	and	Prevention,	Minnesota	Dept	of	Public	
Health,	Los	Angeles	County	Dept	of	Health	Svces;	Dr.	S.V.	Kazakova	et.al.,	A	Clone	of	Methicillin-Resistant	Staphylococcus	
aureus	among	Professional	Football	Players,	The	New	England	Journal	of	Medicine,	Vol	352:468-475	No.	5,	Feb.	3,	2005.	
52	A	High	Morbidity	Outbreak	of	Methicillin-Resistant	Staphylococcus	aureus	among	Players	on	a	College	Football	Team,	
Facilitated	by	Cosmetic	Body	Shaving	and	Turf	Burns,	study	conducted	2004	for	Connecticut	Dept	of	Public	Health,	
Student	Health	Services	of	Sacred	Heart	Univ,	Centers	for	Disease	Control	and	Prevention,	Minnesota	Dept	of	Public	
Health,	Los	Angeles	County	Dept	of	Health	Svces.	
53	J.J.	Bass,	D.W.	Hintze,	(2013)	“Determination	of	Microbial	Populations	in	a	Synthetic	Turf	System,”	Skyline	–	The	Big	Sky	
Undergraduate	Journal,	Vol.	1,	Iss.	1,	Art.	1.	
54	Dr.	M.	Shorten,	J.A.	Himmelsbach,	BioiMechanica,	Sports	Surfaces	and	the	Risk	of	Traumatic	Brain	Injury	citing	the	US	
Centers	for	Disease	Control.	
55	Dr.	M.	Shorten,	J.A.	Himmelsbach,	BioiMechanica,	Sports	Surfaces	and	the	Risk	of	Traumatic	Brain	Injury.	
56	Dr.	M.	Shorten,	J.A.	Himmelsbach,	BioiMechanica,	Sports	Surfaces	and	the	Risk	of	Traumatic	Brain	Injury.	
57	Dr.	M.	Shorten,	J.A.	Himmelsbach,	BioiMechanica,	Sports	Surfaces	and	the	Risk	of	Traumatic	Brain	Injury.		See	also	K.M.	
Guskiewica,	N.L.	Weaver,	D.A.	Padua,	W.E.	Garrett	Jr.,	Epidemiology	of	Concussion	in	Collegiate	and	High	School	Football	
Players,	Sep-Oct	2000	&	Does	the	Use	of	Artificial	Turf	Contribute	to	Head	Injuries,	The	Journal	of	Trauma-Injury,	Infection	
and	Critical	Care,	Oct	2002	for	the	finding	that	artificial	turf	increases	the	level	of	injury	in	comparison	to	natural	grass	
fields.	
58	Office	of	Environmental	Health	Hazard	Assessment,	Evaluation	of	Health	Effects	of	Recycled	Waste	Tires	in	Playground	
and	Track	Products,	January	2007.	Please	note	that	in	this	study	32	recycled	tire	playground	surfaces	were	tested	as	
compared	to	only	5	wood	chip	playground	surfaces.	
50

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documenting	a	concerning	level	of	environmental	threat	and	harm	and	is	further	demonstrating	the	
need	for	more	research	regarding	artificial	turf	and	its	ramifications	for	the	environment.	
	
The	Connecticut	Agricultural	Experiment	Station	conclusively	found	four	compounds	which	outgassed	and	leached	into	water	from	synthetic	turf	rubber	crumb	under	ambient	temperatures:			
Ø Benzothiazole	(a	skin	and	eye	irritant),		
Ø Butylated	hydroxyanisole	(a	“recognized	carcinogen,	suspected	endocrine	toxicant,	
gastrointestinal	toxicant,	immune	toxicant,	neurotoxicant,	skin	and	sense-organ	toxicant”),		
Ø n-hexadecane	(a	severe	irritant)	&		
Ø 4-(t-octyl)	phenol	(“corrosive	and	destructive	to	mucous	membranes”).59			
	
As	rubber	degrades	it	can	leach	toxic	substances	which	can	contaminate	soil,	plants	and	aquatic	
ecosystems.60		Study	has	concluded	that	the	use	of	tires	in	artificial	turf	has	the	potential	to	pollute	
our	environment	with	PAHs,	phenols	and	zinc61	and	that	runoff	from	an	artificial	turf	field	draining	to	
a	local	creek	can	pose	“a	positive	risk	of	toxic	effects	on	biota	in	the	water	phase	and	in	the	
sediment.”62		Other	metal	contaminants	found	to	leach	from	tire	crumb	rubber	include	zinc,	selenium,	
lead	and	cadmium.63		Zinc	has	also	been	shown	to	leach	from	the	artificial	turf	fibers.64		Extreme	
temperatures	or	solvents	are	not	needed	to	release	these	metals,	volatile	organic	compounds	or	semivolatile	organic	compounds	from	the	rubber	in-fill	of	artificial	turf	into	the	air	or	water	–	release	takes	
place	in	ambient	air	and	water	temperatures.65	
		
“Runoff	with	high	Zn	[zinc]	from	synthetic	turf	fields	may	produce	adverse	effects	to	plants	and	
aquatic	life.		This	is	of	particular	concern	given	that	the	leaching	rate	of	Zn	[zinc]	from	rubber	
granules	can	be	up	to	20	times	greater	than	the	leaching	rate	of	Zn	from	agricultural	applications	of	
manure	and	pesticides.”66		Leaching	of	substances	as	the	result	of	surface	water	runoff	from	
precipitation	has,	by	some	researchers,	been	predicted	to	be	the	greatest	risk	for	the	environment	
from	artificial	turf.	67				Study	shows	there	is	a	risk	of	local	effects	for	aquatic	and	sediment	dwelling	

59	The	Connecticut	Agricultural	Experiment	Station,	Examination	of	Crumb	Rubber	Produced	from	Recycled	Tires,	August	

2007;	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	

60	Quoting	Dr.	Linda	Chalker-Scott,	Washington	State	University	--	Turfgrass	Resource	Center,	Facts	About	Artificial	Turf	

and	Natural	Grass;	T.	Kallqvist,	Norwegian	Institute	for	Water	Research(NIVA),	Environmental	Risk	Assessment	of	
Artificial	Turf	Systems,	December	2005,	p.	17.;	Connecticut	Agricultural	Experiment	Station,	Examination	of	Crumb	
Rubber	Produced	from	Recycled	Tires.	
61	T.	Kallqvist,	Norwegian	Institute	for	Water	Research(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	5;	T.	Edeskar,	Lulea	University	of	Technology,	Technical	and	Environmental	Properties	of	Tyre	Shreds	
Focusing	on	Ground	Engineer	Application,	2004	as	cited	in	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	
2007.	
62	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	6.	
63Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
64	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	17.	
65	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
66	J.	Zhang,	I.	Han,	L.	Zhang,	W.	Crain,	“Hazardous	Chemicals	in	synthetic	turf	materials	and	their	bioaccessibility	in	
digestive	fluids,”	Journal	of	Exposure	Science	and	Environmental	Epidemiology	(2008)	
67	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	5;	NIVA	(The	Norwegian	Institute	for	Water	Research),	Evaluation	of	the	Environmental	Risks	of	
Synthetic	Turf,	2005;	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	

Page 9 of 12

organisms	in	impacted	water	courses.	68		Recycled	rubber,	and	associated	leachate,	has	been	found	to	
contain	a	variety	of	metals	(including	lead,	cadmium,	copper,	mercury	and	zinc),	as	well	as	organic	
pollutants	such	as	PAHs,	phthalates,	4-t-octylphenol	and	iso-nonyphenol.	69		The	leaching	of	zinc	has	
been	determined	to	be	of	major	environmental	concern.70		The	leaching	of	zinc	increases	as	the	
rubber	infill	weathers	over	time,71	it	is	likely	this	is	the	same	for	other	contaminants.		While	Zinc	
contributes	the	most	risk,	phenols	(specifically	octylphenol)	and	PAHs	are	also	of	concern.	72		Of	the	
organic	compounds	at	issue,	Octylphenol	represents	the	greatest	risk,	and	possibly	could	occur	at	
levels	where	hormone	disrupting	effects	are	a	concern.	73		The	varying	content	of	tires	makes	this	
threat	a	moving	target.			
	
The	Norwegian	Institute	for	Water	Research	has	determined	that	it	is	“appropriate	to	perform	a	risk	
assessment	which	covers	water	and	sediments	in	watercourses	which	receive	run-off	from	artificial	
turf	pitches.”74	
	
While	recycled	rubber	is	a	greater	source	of	pollution,	newly	manufactured	rubber	also	contains	
levels	of	hazardous	substances;	in	the	case	of	zinc	and	chromium	the	levels	of	recycled	and	newly	
manufactured	rubber	are	comparable.75	
	
It	is	predicted	that	chemicals	leaching	from	synthetic	turf	materials	occurs	slowly,	and	as	a	result	the	
environmental	harms	may	take	place	over	many	years.76				
	
Leaching	may	not	be	the	only	source	of	water	contamination	from	artificial	turf.		As	the	artificial	turf	
is	used	there	is	a	level	of	“erosion”	that	takes	place	and	can	result	in	fine	particles	that	could	be	
carried	to	local	waterways.		This	source	of	contamination	needs	study.77	
	
The	synthetic	grass	fibers	can	also	be	a	significant	source	of	pollution,	particularly	zinc,	albeit	
significantly	lesser	amounts	leach	from	the	synthetic	grass	than	the	rubber	infill.78				
68	T.	Kallqvist,	Norwegian	Institute	for	Water	Research(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	

December	2005,	p.	5;	NIVA	(The	Norwegian	Institute	for	Water	Research),	Evaluation	of	the	Environmental	Risks	of	
Synthetic	Turf,	2005,	as	cited	by	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007;	KEM,	Swedish	
Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007	
69	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	7.	
70	INTRON,	Environmental	and	Health	Risks	of	Rubber	Infill,	rubber	crumb	from	car	tyres	as	infill	on	artificial	turf,	
February	9,	2007.			
71	INTRON,	Environmental	and	Health	Risks	of	Rubber	Infill,	rubber	crumb	from	car	tyres	as	infill	on	artificial	turf,	
February	9,	2007.			
72	NIVA	(The	Norwegian	Institute	for	Water	Research),	Evaluation	of	the	Environmental	Risks	of	Synthetic	Turf,	2005,	as	
cited	by	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
73	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	17.	
74	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	8.	
75	Byggforsk,	SINTEF	Building	and	Infrastructure,	Potential	Health	and	Environmental	Effects	Associated	with	Synthetic	
Turn	Systems,	2004,	as	referenced	in	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
76	T.	Kallqvist,	Norwegian	Institute	for	Water	Research(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	5;	NIVA	(The	Norwegian	Institute	for	Water	Research),	Evaluation	of	the	Environmental	Risks	of	
Synthetic	Turf,	2005,	as	cited	by	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
77	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	18.	

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When	talking	about	the	use	of	ground	rubber	as	a	supplement	to	planting	soils	the	North	Carolina	
Department	of	Agriculture	and	Consumer	Services	sent	out	a	notice	identifying	the	risk	that	zinc	
leaching	from	the	rubber	causes	a	decline	in	plant	growth	“directly	attributable	to	zinc	toxicity.”79	
	
One	Norwegian	assessment/presentation	reported	that	“recycled	rubber	was	the	major	source	of	
potentially	hazardous	substances.		An	exposure	scenario	where	the	runoff	from	a	football	field	is	
drained	to	a	small	creek	showed	a	positive	risk	of	toxic	effects	on	biota	in	the	water	phase	and	in	the	
sediment.		The	risk	was	mainly	attributed	to	zinc,	but	also	for	octylphenol	the	predicted	
environmental	concentrations	exceeded	the	no	environmental	effect	concentration.”	80			The	
hazardous	leaching	could	result	in	local	environmental	effect.81			
	
Conclusion	
Given	all	of	the	science	on	the	record	that	demonstrates	artificial	turf	is	a	threat	to	health	and	the	
environment,	the	precautionary	principle	dictates	that	artificial	turf	with	crumb	rubber	infill	be	
recognized	as	a	threat	to	public	health	and	safety	and	the	environment	and	that	the	ongoing	
expansion	and	construction	of	crumb	rubber	turf	fields	should	be	prohibited	and	those	fields	that	
have	already	been	installed	should	be	removed	and	properly	disposed	of.			
	
When	a	community	installs	a	crumb	rubber	artificial	turf	field	it	is	forcing	children	who	want	to	
participate	in	sports	to	be	forced	to	expose	themselves	to	its	hazards.		It	is	simply	neither	right	nor	
fair	for	communities,	with	the	support	or	false	sense	of	security	given	by	an	acquiescing	government	
agency,	to	be	making	investments	that	take	from	parents	and	kids	the	ability	to	decide	for	themselves	
what	health	hazards	they	are	willing	to	be	exposed	to	if	they	want	to	participate	in	sports.		Advancing	
in	anyway	the	construction	and	expansion	of	crumb	rubber	artificial	turf	fields		is	forcing	an	unfair	
choice	on	kids	and	parents:		play	sports	or	protect	your	health,	but	you	are	not	allowed	to	have	both.	
	
Respectfully,	
	
	

Maya	K.	van	Rossum	
the	Delaware	Riverkeeper		
	
P.S.	I	note,	that	as	a	result	of	my	work	on	this	issue,	as	a	parent	I	have	had	to	pull	my	son	from	the	
township	lacrosse	team	because	they	started	playing	on	artificial	turf	this	past	year.		The	health	
impacts	of	artificial	turf	are	too	significant	and	concerning	for	me,	as	a	parent,	to	allow	my	10	year	old	
son	to	play	on	crumb	rubber	artificial	turf.			
78	Byggforsk,	SINTEF	Building	and	Infrastructure,	Potential	Health	and	Environmental	Effects	Associated	with	Synthetic	
Turn	Systems,	2004,	as	referenced	in	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
79	M.	Ray	Tucker,	Agronomist,	Ground	Rubber:	Potential	Toxicity	to	Plants,	Media	Notes	for	North	Carolina	Growers,	North	
Carolina	Dept	of	Agriculture	&	Consumer	Services,	April	1997.	
80	Dr.	Christine	Bjorge,	Norwegian	Institute	of	Public	Health,	Artificial	turf	Pitches	–	an	assessment	of	the	health	risks	for	
football	players	and	the	environment,	Presentation	at	the	ISSS	Technical	meeting	2006,	Dresden.	
81	Dr.	Christine	Bjorge,	Norwegian	Institute	of	Public	Health,	Artificial	turf	Pitches	–	an	assessment	of	the	health	risks	for	
football	players	and	the	environment,	Presentation	at	the	ISSS	Technical	meeting	2006,	Dresden.	

Page 11 of 12

	
Attachments:	
Submitted	as	part	of	this	comment	are	fact	sheets	and	an	annotated	bibliography	that	discuss	the	
research	detailed	above	as	well	as	additional	research	speaking	about	the	environmental	and	public	
health	threats	posed	by	crumb	rubber	infill	artificial	turf.	
	

Page 12 of 12

	
Summary	of	Research		
Assessing	the	Impacts	of	Artificial	Turf	
Updated	4/29/2016	
	
Heat:	Research	has	documented	that	the	surface	temperature	on	artificial	turf	is	dramatically	higher	than	the	
surrounding	land	uses	including	asphalt.	Concerns	regarding	the	excessive	temperatures	range	from	the	implications	
for	players	who	are	already	exerting	themselves	to	the	implications	for	burns	when	players	or	pedestrians	come	into	
contact	with	the	hot	surfaces.	
1. Petrass,	L.	A.,	et	al.	(2014).	Comparison	of	surface	temperatures	of	different	synthetic	turf	systems	and	
natural	grass:	Have	advances	in	synthetic	turf	technology	made	a	difference.	Proceedings	of	the	Institution	
of	Mechanical	Engineers,	Part	P:	Journal	of	Sports	Engineering	and	Technology.	
a. A	comparison	of	surface	temperatures	of	third-generation	synthetic	turf	with	a	cool	climate	product	
that	claims	to	reduce	surface	temperatures	to	surface	temperatures	of	natural	grass.		
b. Although	surface	temperatures	were	lower	for	the	cool	climate	field	compared	to	other	synthetic	
turf,	both	types	of	artificial	turf	fields	were	considerably	hotter	than	natural	grass	with	temperatures	
that	were	between	12°	C	(53°	F)	and	22°	C	(72°	F)	hotter.	
2. Reasor,	E.	H.	(2014).	Synthetic	Turf	Surface	Temperature	Reduction	and	Performance	Characteristics	as	
Affected	by	Calcined	Clay	Modified	Infill.	Master’s	Thesis,	University	of	Tennessee.	Available	at:	
http://trace.tennessee.edu/utk_gradthes/2750		
a. Surface	temperatures	of	artificial	turf	were	between	31°	C	(88°	F)	and	57°	C	(135°	F).	
b. Although	irrigation	reduced	surface	temperatures	of	artificial	turf,	increases	of	74	to	102%	of	the	
pre-irrigation	temperature	were	observed	within	30	minutes	after	irrigation.	
c. Surface	temperatures	returned	to	pre-irrigation	temperature	on	all	of	the	treatments	between	60	
and	120	minutes	after	irrigation.		Therefore,	the	cooling	effect	of	irrigation	will	not	last	the	entire	
length	of	an	athletic	competition.			
3. Thoms,	A.	W.	et	al.	(2014).	Models	for	Predicting	Surface	Temperatures	on	Synthetic	Turf	Playing	Surfaces.	
Procedia	Engineering,	72,	895-900.	Available	at:	
http://www.sciencedirect.com/science/article/pii/S1877705814006699	
a. Artificial	turf	surface	temperatures	ranged	from	-9.8	to	86.4°	C	(14	to	188°	F)	to	when	ambient	air	
temperatures	ranged	from	-0.4	to	37.1°	C	(31	to	99°	F).			
b. Absorption	of	solar	radiation	results	in	increased	temperatures	on	artificial	turf	surfaces,	and	high	
rates	of	solar	radiation	are	absorbed	with	minimal	light	reflectance.			Therefore,	air	temperature	in	
conjunction	with	solar	radiation	explained	most	of	the	variation	in	artificial	turf	surface	
temperatures.		
4. Penn	State’s	Center	for	Sports	Surface	Research	(2012).	Synthetic	Turf	Heat	Evaluation-	Progress	Report.	
January	2012.	Available	at:	http://plantscience.psu.edu/research/centers/ssrc/documents/heat-progressreport.pdf		
DELAWARE RIVERKEEPER NETWORK
925 Canal Street, Suite 3701
Bristol, PA 19007
Office: (215) 369-1188
fax: (215)369-1181
[email protected]
www.delawareriverkeeper.org

5.

6.

7.

8.

9.

a. This	study	measured	surface	temperatures	of	artificial	turf	fields	between	140.2	and	173.4°	F	when	
air	temperatures	were	between	73	and	79°	F.		
b. Looking	at	various	color	options	for	infill	and	temperature,	no	product	significantly	reduced	surface	
temperatures.		Small	reductions	in	temperature	are	insignificant	when	surface	temperatures	still	
exceed	150°	F.		This	study	concluded	that	“[w]hile	marketing	materials	may	claim	lower	surface	
temperatures,	no	scientific	reports	exist	that	substantiate	such	claims.”		
c. Research	has	not	found	a	good	solution	for	excessive	heat	levels	of	turf.			
Serensits,	T.	J.	et	al.	(2011).	Human	health	issues	on	synthetic	turf	in	the	USA.	Proceedings	of	the	Institution	
of	Mechanical	Engineers,	Part	P:	Journal	of	Sports	Engineering	and	Technology,	225(3),	139-146.	
a. High	surface	temperatures	found	on	artificial	turf	fields	can	contribute	to	physiological	stress	and	
cause	“serious	heat-related	illnesses”	including	heat	stress,	heat	stroke,	and	burns.		
b. The	“New	York	City	Department	of	Health	and	Mental	Hygiene	recognizes	excessive	surface	
temperatures	as	the	most	important	health	concern	associated	with	infilled	synthetic	turf.”	
c. Irrigation	of	excessively	hot	artificial	turf	surfaces	only	provides	cooling	benefits	for	about	20	
minutes,	with	a	rebound	to	within	10	degrees	of	the	pre-irrigation	temperature	within	3	hours.					
d. The	use	of	white	crumb	rubber	as	the	infill	does	not	resolve	the	heat	issue.		
Sciacca,	T	(2008).	The	Thermal	Physics	of	Artificial	Turf.	SynTurf.org.	Available	at:	
http://www.synturf.org/sciaccaheatstudy.html		
a. A	study	comparing	temperatures	on	artificial	turf	temperatures	with	air	temperature	found	that	
artificial	turf	ranged	from	58	to	75°	hotter	than	measured	air	temperature.		
SportsTurf	Managers	Association	(STMA)	(2008).	A	Guide	to	Synthetic	and	Natural	Turfgrass	for	Sports	
Fields:	Selection,	Construction	and	Maintenance	Considerations.	2nd	edition.	Available	at:	
http://www.stma.org/sites/stma/files/STMA_Synthetic_Guide_2nd_Edition.pdf				
a. Artificial	turf	gets	dramatically	hotter	than	surrounding	land	uses	including	asphalt	with	surface	
temperatures	as	much	as	95	to	140°	F	hotter	than	natural	grass	fields	whereas	the	temperature	of	
natural	grass	rarely	rises	above	85°	F,	regardless	of	air	temperature	
Williams,	C.	F.,	&	Pulley,	G.	E.	(2002).	Synthetic	surface	heat	studies.	Brigham	Young	University.	Available	at:	
www.wellesleyma.gov/pages/WellesleyMA_SpragueResources/Synthetic%20Surfaces%20Heat%20Study.do
c		
a. Temperature	measurements	were	taken	at	the	surface,	above	the	surface,	and	below	the	surface	of	
artificial	turf,	natural	turf,	bare	soil,	asphalt,	and	concrete.		
b. Surface	temperatures	of	synthetic	turf	were	37°	F	higher	than	asphalt	and	86.5°	F	hotter	than	
natural	turf.	
c. Two	inches	below	the	surface,	synthetic	turf	was	28.5°	F	hotter	than	natural	turf.	
d. Although	irrigation	of	synthetic	turf	resulted	in	a	reduction	of	close	to	90°F,	temperatures	rose	35°	
within	five	minutes	and	returned	to	the	starting	temperature	within	20	minutes.	
e. “The	hottest	surface	temperature	recorded	was	200º	F	on	a	98º	F	day.		Even	in	October	the	surface	
temperature	reached	112.4º	F.”	
f. Brigham	Young	University	has	set	a	surface	temperature	guideline	which	restricts	play	on	synthetic	
turf	fields	when	surface	temperatures	are	potentially	hazardous	to	athletes.		This	reduces	the	
playing	season	and	eliminates	any	continuous	play	benefit	that	is	typically	mentioned	in	favor	of	
artificial	turf.		
Beard,	J.	B.,	&	Green,	R.	L.	(1994).	The	role	of	turf	grasses	in	environmental	protection	and	their	benefits	to	
humans.	Journal	of	Environmental	Quality,	23(3),	452-460.	Available	at:	
https://www.landcarenetwork.org/legislative/TheRoleofTurfgrassesinEnvironmentalProtection.pdf		
a. Synthetic	surfaces	can	be	up	to	39°	C	(102°	F)	hotter	than	natural	turf.		Natural	turf	grass	provides	a	
natural	cooling	affect	and	helps	to	dissipate	heat	from	neighboring	developed	areas.	

	
	

Page 2 of 10

	
Health:	The	impacts	of	inhalation	or	ingestion	of	chemicals	continues	to	be	a	concern	for	those	playing	on	artificial	
turf.		Direct	human	exposure	to	the	hazardous	substances	contained	in	the	rubber	in-fill	of	artificial	turf	is	believed	
to	occur	via	inhalation,	skin	contact,	and/or	ingestion.		Furthermore,	there	are	concerns	for	increased	injuries	and	
bacterial	infections	when	playing	on	artificial	turf.	
1. Kim,	S.,	Yang,	J.-Y.,	Kim,	H.-H.,	Yeo,	I.-Y.,	Shin,	D.-C.,	&	Lim,	Y.-W.	(2012).	Health	Risk	Assessment	of	Lead	
Ingestion	Exposure	by	Particle	Sizes	in	Crumb	Rubber	on	Artificial	Turf	Considering	Bioavailability.	
Environmental	Health	and	Toxicology,	27,	e2012005.	http://doi.org/10.5620/eht.2012.27.e2012005.	
a. Researchers	considered	the	risks	for	lead	exposure	from	children	ingesting	rubber	powder	resulting	
from	exposure	to	crumb	rubber	infill	artificial	turf	and	found	that	elementary	school	students	had	a	
hazard	index	that	exceeded	0.1,	a	level	that	is	considered	a	“potential	for	hazard”,	with	middle	and	
high	school	students	also	suffering	exposure	levels.		
	
2. Balazs,	G.	C.,	et	al.	(2014).	Risk	of	Anterior	Cruciate	Ligament	Injury	in	Athletes	on	Synthetic	Playing	Surfaces	
A	Systematic	Review.	The	American	journal	of	sports	medicine,	0363546514545864.	
a. A	systematic	review	of	available	literature	on	the	risk	of	ACL	rupture	on	natural	grass	versus	artificial	
turf	found	that	there	is	an	increased	rate	of	ACL	injury	on	synthetic	playing	surfaces	for	football	
players.			
3. Celeiro,	M.,	Lamas,	J.	P.,	Garcia-Jares,	C.,	Dagnac,	T.,	Ramos,	L.,	&	Llompart,	M.	(2014).	Investigation	of	PAH	
and	other	hazardous	contaminant	occurrence	in	recycled	tyre	rubber	surfaces.	Case-study:	restaurant	
playground	in	an	indoor	shopping	centre.	International	Journal	of	Environmental	Analytical	Chemistry,	
94(12),	1264-1271.	
a. The	presence	of	a	large	number	of	hazardous	substances	were	found	in	both	the	runoff	and	vapor	
phase	of	recycled	tire	playground	surfaces.		
b. Nine	polycyclic	aromatic	hydrocarbons	(PAHs)	were	detected	in	the	runoff/	cleaning	water	with	total	
PAH	concentrations	in	the	ppm	(parts	per	million)	range.		
c. The	most	toxic	PAH,	benzo[a]pyrene	was	detected	in	extracts	from	playground	surfaces.		
d. “The	presence	and	the	high	concentration	of	these	chemical	compounds	in	playground	should	be	a	
matter	of	concern	owing	to	their	high	toxicity.”	
4. Laible,	C.,	&	Sherman,	O.	H.	(2014).	Risk	Factors	and	Prevention	Strategies	of	Non-Contact	Anterior	Cruciate	
Ligament	Injuries.	Bulletin	of	the	Hospital	for	Joint	Diseases,	72(1),	70-5.	Available	at:	
http://www.nyuhjdbulletin.org/mod/bulletin/v72n1/docs/v72n1_7.pdf		
a. Since	shoe-surface	interaction	is	important	for	injury	prevention,	“the	optimal	surface	to	prevent	
injury	is	outdoors	on	natural	grass.”	
b. Artificial	turf	has	a	higher	friction	coefficient	and	greater	ground	reaction	force,	both	conditions	that	
increase	the	risk	for	injury.		
c. Furthermore,	as	temperature	increases	the	shoe-surface	friction	interaction	increases	and	exposes	
athletes	to	greater	risk	of	injury.			
5. Bass,	J.	J.,	&	Hintze,	D.	W.	(2013).	Determination	of	Microbial	Populations	in	a	Synthetic	Turf	System.	
Skyline-The	Big	Sky	Undergraduate	Journal,	1(1),	1.	Available	at:	
http://skyline.bigskyconf.com/cgi/viewcontent.cgi?article=1000&context=journal		
a. Abrasions,	even	insignificant	ones,	from	artificial	turf	can	create	an	entry	site	for	pathogens.	
b. The	higher	abrasion	rate	for	synthetic	turf	increases	the	risk	of	infection,	and	the	microbial	
populations	found	within	synthetic	turf	are	a	source	of	pathogens	when	abrasions	occur.		
c. Older	turf	fields	have	higher	microbial	populations,	as	well	as	higher	levels	in	the	higher	traffic	areas	
such	as	the	sidelines.		These	results	indicate	that	artificial	turf	poses	a	greater	risk	for	the	spread	of	
pathogens	and	infections	among	student	athletes.		
6. Llompart,	M.,	Sanchez-Prado,	L.,	Lamas,	J.	P.,	Garcia-Jares,	C.,	Roca,	E.,	&	Dagnac,	T.	(2013).	Hazardous	
organic	chemicals	in	rubber	recycled	tire	playgrounds	and	pavers.	Chemosphere,	90(2),	423-431.	Available	
at:	http://www.elcorreodelsol.com/sites/default/files/chemosphere_maria_llompart.pdf		

Page 3 of 10

7.

8.

9.

10.

11.

a. An	analysis	of	surfaces	containing	recycled	rubber	tires	confirmed	the	presence	of	hazardous	
substances	including	PAHs,	phthalates,	antioxidants	(e.g.	BHT,	phenols),	benzothiazole,	derivatives,	
and	other	chemicals.		
b. The	vapor	phase	above	the	samples	confirmed	volatilization	of	many	organic	compounds	
demonstrating	that	these	chemicals	can	enter	the	human	body	through	inhalation.	
c. The	use	of	recycled	rubber	tires	for	play	areas,	especially	facilities	for	children,	should	be	restricted	
or	prohibited.			
Serensits,	T.	J.,	McNitt,	A.	S.,	&	Petrunak,	D.	M.	(2011).	Human	health	issues	on	synthetic	turf	in	the	USA.	
Proceedings	of	the	Institution	of	Mechanical	Engineers,	Part	P:	Journal	of	Sports	Engineering	and	Technology,	
225(3),	139-146.	
a. Synthetic	turf	is	more	abrasive	than	natural	turf	grass,	therefore,	“breaks	in	the	skin	are	more	
common,	creating	a	pathway	for	infection	when	in	contact	with	an	infected	surface.”				
Shalat,	S.L.	(2011).	An	Evaluation	of	Potential	Exposures	to	Lead	and	Other	Metals	as	the	Result	of	
Aerosolized	Particulate	Matter	from	Artificial	Turf	Playing	Fields,	Final	Report.	Submitted	to	NJ	Department	
of	Environmental	Protection,	July	14,	2011.		Available	at:	http://www.nj.gov/dep/dsr/publications/artificialturf-report.pdf		
a. In	air	samples	collected	from	artificial	turf	during	various	levels	of	activity,	researchers	detected	
arsenic,	cadmium,	chromium	and	lead,	all	metals	with	known	human	toxicity.		
b. This	research	demonstrates	that	activity	by	players	on	the	fields	could	suspend	contaminated	
particulates	into	the	air	that	could	be	inhaled	and	therefore,	human	exposure	from	artificial	turf	
fields	is	not	limited	to	dermal.		
c. These	results	“raise	some	concerns	with	regard	to	the	potential	hazards	that	may	exist	for	
individuals	and	in	particular	children	who	engage	in	sports	activities	on	artificial	turf	fields.”	
Van	Ulirsch,	G.	et	al.	(2010).	Evaluating	and	regulating	lead	in	synthetic	turf.	Environmental	health	
perspectives,	118(10),	1345.	Available	at:	http://www.ncbi.nlm.nih.gov/pmc/articles/PMC2957910/pdf/ehp118-1345.pdf		
a. Artificial	turf	can	degrade	to	form	lead	containing	dust	at	levels	that	pose	a	health	risk	to	children.			
b. Due	to	the	lack	of	research,	“…physicians	should	be	aware	of	synthetic	turf	as	one	potential	source	
of	exposure	for	young	children…”	and	“Health	officials	investigating	elevated	blood	lead	in	children	
should	also	be	aware	of	synthetic	turf	as	a	potential	source	of	lead	exposure.”	
Center	for	Disease	Control	and	Prevention.	(2008).	CDC	Health	Advisory.	Potential	exposures	to	lead	
inartificial	turf:	Public	health	issues,	actions,	and	recommendations.	June	18,	2008.	Available	at:	
http://www.dhhr.wv.gov/oeps/disease/Documents/Advisory_00275.pdf		
a. Artificial	turf	made	of	nylon	or	nylon/	polyethylene	blend	fibers	contain	lead	and	pose	a	potential	
public	health	concern.		
b. The	risk	for	lead	exposure	is	higher	for	artificial	fields	that	are	old,	frequently	used,	exposed	to	the	
weather,	or	demonstrate	signs	of	abraded,	faded,	or	broken	fibers.		As	turf	ages,	lead	is	released	in	
dust	that	could	then	be	ingested	or	inhaled.			
c. CDC	does	not	know	how	much	lead	the	body	will	absorb.		However,	lead	can	cause	neurological	
development	symptoms	and	behavioral	problems.		Children	less	than	6	years	old	are	more	affected	
by	lead	than	adults	and	absorb	lead	more	easily.		
d. CDC	does	not	understand	the	potential	risks	associated	with	lead	exposure	from	artificial	turf	but	
recommends	precautions	including	aggressive	hand	and	body	washing	after	playing	on	fields,	
washing	clothes	immediately	to	avoid	tracking	contaminated	dust	to	other	places,	and	discouraging	
eating	and	drinking	while	on	turf	products.	
Han,	I.	K.,	Zhang,	L.,	&	Crain,	W.	(2008).	Hazardous	chemicals	in	synthetic	turf	materials	and	their	
bioaccessibility	in	digestive	fluids.	Journal	of	Exposure	Science	and	Environmental	Epidemiology,	18(6),	600607.		Available	at:	http://www.nature.com/jes/journal/v18/n6/pdf/jes200855a.pdf	

Page 4 of 10

a. Samples	from	rubber	granules	and	from	artificial	grass	fibers	were	taken	at	fields	of	different	ages	
and	analyzed	for	polycyclic	aromatic	hydrocarbons	(PAHs),	zinc,	chromium,	arsenic,	cadmium,	and	
lead.		These	samples	were	then	analyzed	to	determine	their	bioaccessibility	in	synthetic	digestive	
fluids.		
b. The	rubber	granules	found	in	artificial	turf	fields	had	PAH	levels	above	health-based	soil	standards.		
Although	levels	appear	to	decline	over	time,	this	trend	can	be	altered	by	the	fact	that	new	rubber	
can	be	added	periodically	to	compensate	for	the	loss	of	infill	material.			
c. There	was	a	“slightly	worrisome”	level	of	chromium	found	in	artificial	turf	fiber	samples.	
d. Lead	in	artificial	fields	can	come	from	the	blades	of	artificial	grass,	the	pigment	used	for	the	field	
markings	and	lines,	and	the	infill	material.		Although	there	were	relatively	low	concentrations	of	lead	
measured,	the	researchers	were	careful	to	point	out:	“some	health	scientists	believe	that	any	Pb	
[lead]	is	harmful	to	children’s	neurocognitive	development,	and	that	no	new	Pb	should	be	added	to	
their	surroundings.”	Furthermore,	the	lead	present	in	the	rubber	granules,	while	at	low	levels,	was	
“highly	bioaccessible”	to	synthetic	gastric	fluid.				
12. Brown,	D.R.	(2007).	Artificial	Turf:	Exposures	to	Ground-up	Rubber	Tires.	Environment	&	Human	Health,	Inc.	
(EHHI).	Available	at:	http://www.ehhi.org/reports/turf/turf_report07.pdf		
a. Direct	human	exposure	to	the	hazardous	substances	contained	in	artificial	turf	occurs	via	three	
pathways:		inhalation	as	chemicals	off	gas	from	the	turf,	skin	contact,	or	ingestion	including	by	
children	or	infants	who	come	into	contact	with	the	material.		In	the	case	of	allergies	(i.e.	latex	
allergies),	inhalation	could	result	in	a	systemic	response,	as	opposed	to	a	contact	response.				
b. Extreme	temperatures	or	solvents	are	not	needed	to	release	metals	(including	zinc,	selenium,	lead	
and	cadmium),	volatile	organic	compounds,	or	semi-volatile	organic	compounds	from	the	rubber	infill	of	artificial	turf	into	the	air	or	water	–	release	takes	place	in	ambient	air	and	water	temperatures.	
c. While,	“the	status	of	the	information	about	human	exposures	to	recycled	tire	crumb	rubber	in-fill	…	
is	not	sufficient	to	determine	the	safety	of	the	use	of	the	product	in	situations	that	involve	
continuous	episodes	of	human	exposure;”			“the	available	information	is	sufficient	and	strong	
enough	to	raise	plausible	questions	with	respect	to	acute	toxicity	for	susceptible	persons,	and	for	
cancer	risks.”		
13. California	Office	of	Environmental	Health	Hazard	Assessment	(OEHHA)	(2007).	Evaluation	of	Health	Effects	
of	Recycled	Waste	Tires	in	Playground	and	Track	Products.	Report	prepared	for	the	Integrated	Waste	
Management	Board.		Available	at:	
http://www.calrecycle.ca.gov/publications/Documents/Tires%5C62206013.pdf		
a. Based	on	a	review	of	46	studies,	49	chemicals	that	are	released	from	tire	crumb	were	identified.		
b. Of	the	49	chemicals	identified,	“seven	of	the	chemicals	leached	from	tire	shreds	were	carcinogens.”			
c. OEHHA	calculated	a	cancer	risk	of	1.2	in	10	million	based	on	a	one-time	ingestion	of	the	tire	crumb	
rubber	over	a	lifetime.				
d. Chrysene,	a	PAH	and	carcinogen,	was	found	to	be	ingested	as	the	result	of	hand-to-surface-tomouth	transfer	from	playground	surfaces	made	with	recycled	tires.		Assuming	playground	use	for	an	
11	year	period	(from	age	1	to	12)	there	was	found	to	be	an	increased	cancer	risk	of	2.9	in	one	million	
from	the	general	cancer	risk	gauge	of	one	in	one	million	
e. Only	31%	of	the	playground	surfaces	made	of	recycled	tires	tested	passed	the	California	State	
mandated	Head	Impact	Criterion	(HIC)	of	<1,000.		In	this	same	study	100%	of	the	playground	
surfaces	made	of	wood	chips	passed	the	same	standard.			
14. Crain,	W.	and	Zhang,	J.	(2007).	Rachel’s	Democracy	and	Health	News	#992:	Hazardous	Chemicals	in	
Synthetic	Turf,	Follow-up	Analyses,	April	12,	2007.	Available	at:	
http://www.precaution.org/lib/07/prn_synthetic_turf.070405.htm		

Page 5 of 10

15.

16.

17.

18.

19.

a. Testing	on	two	sites	in	New	York	where	synthetic	turf	has	been	used	(the	large,	3	year	old,	Parade	
Ground	in	Brooklyn;	the	relatively	small	5	month	old	Sara	D.	Roosevelt	Park	in	Manhattan)	found	
PAHs	at	hazardous	levels	(as	per	New	York	standards).		Dibenzo	(a.h)anthracene,	a	probable	human	
carcinogen,	was	also	found	at	hazardous	levels,	with	two	other	PAH	forms,	both	possible	human	
carcinogens,	found	at	hazardous	levels	at	the	Parade	Ground	site.				
b. Research	into	the	pathways	by	which	these	substances	may	be	absorbed	into	the	bodies	of	children	
and	athletes	via	skin	contact,	ingestion	or	other	pathways,	is	very	limited	with	additional	research	
needed.	
Epstein,	V.	(2007).	Texas	Football	Succumbs	to	Virulent	Staph	Infection	from	Turf.	Bloomberg	Press,	
December	21,	2007.	Available	at:	
http://www.bloomberg.com/apps/news?pid=newsarchive&sid=alxhrJDn.cdc	
a. Artificial	turf	is	linked	with	serious	and	potentially	life	threatening	staph	infections	including	MRSA	
(methicillin-resistant	staphylococcus	aureus).		MRSA	can	exploit	minor	skin	injuries	such	as	turf	
burn,	and	therefore,	MRSA	infection	rate	among	players	is	16	times	higher	than	the	national	
average.	
KEMI,	Swedish	Chemicals	Agency	(2007).		Facts:	Synthetic	Turf.	April	2007.		Available:	
http://www2.kemi.se/upload/trycksaker/pdf/faktablad/fbsyntheticturf.pdf.		
a. Tires	contain	up	to	60	different	substances	which	may	be	bioaccumulative,	carcinogenic,	reprotoxic,	
mutagenic	and/or	endocrine	disrupting.				
b. Most	PAHs	are	persistent,	bioaccumulative	and	carcinogenic.				
c. Among	the	metals	found	in	tires	that	may	be	of	concern	are	zinc,	lead,	copper,	chromium	and	
cadmium.	Zinc	and	copper	are	harmful	when	absorbed	at	high	levels.		Lead	can	affect	reproduction	
and	development	of	the	nervous	system	leading	to	poor	cognitive	development.		Chromium	is	
carcinogenic	and	mutagenic.		Cadmium	is	toxic	to	humans	and	can	contribute	to	poor	liver	and	
kidney	function,	as	well	as	osteoporosis.				
Mattina,	M.	I.,	Isleyen,	M.,	Berger,	W.,	&	Ozdemir,	S.	(2007).	Examination	of	crumb	rubber	produced	from	
recycled	tires.	The	Connecticut	Agricultural	Experiment	Station,	New	Haven,	CT.	Available	at:	
http://www.ct.gov/caes/lib/caes/documents/publications/fact_sheets/examinationofcrumbrubberac005.pd
f	
a. Multiple	compounds	out-gas	and	leached	into	water	from	synthetic	turf	rubber	crumb	under	
ambient	temperatures	including	benzothiazole	(a	skin	and	eye	irritant),	butylated	hydroxyanisole	(a	
“recognized	carcinogen,	suspected	endocrine	toxicant,	gastrointestinal	toxicant,	immune	toxicant,	
neurotoxicant,	skin	and	sense-organ	toxicant”),	n-hexadecane	(a	severe	irritant),	and	4-(t-octyl)	
phenol	(“corrosive	and	destructive	to	mucous	membranes”).	
Anderson,	M.	E.	et	al.		(2006).	A	case	study	of	tire	crumb	use	on	playgrounds:	risk	analysis	and	
communication	when	major	clinical	knowledge	gaps	exist.	Environmental	health	perspectives,	114(1),	1.	
Available	at:	http://www.ncbi.nlm.nih.gov/pmc/articles/PMC1332647/pdf/ehp0114-000001.pdf		
a. A	Case	Study	conducted	by	a	group	of	physicians	and	public	health	professionals	working	with	the	
U.S.	Environmental	Protection	Agency’s	Region	Pediatric	Environmental	Health	Specialty	Unit	found	
that	the	research	and	information	necessary	is	not	available	to	establish	“the	safety	in	use	with	
children”	of	tire	crumb	used	as	playground	surfaces.				
b. “The	use	of	recycled	tire	crumb	products	on	playgrounds	has	had	little	health	investigation.		The	
major	unresolved	concern	is	the	potential	for	latex	allergy	with	short-term	dermal	exposure.”					
Crain,	W.	and	Zhang,	J.	(2006).	Rachel’s	Democracy	and	Health	News	#871:	Hazard	Chemicals	in	Synthetic	
Turf.		September	7,	2006.	Available	at:	
http://www.precaution.org/lib/06/prn_toxins_in_synthetic_turf.060831.htm		

Page 6 of 10

20.

21.

22.

23.

24.

a. Analyses	conducted	at	the	Environmental	and	Occupational	Health	Sciences	Institute	of	Rutgers	
University	found	the	crumb	rubber	from	artificial	turf	to	contain	high	levels	of	PAHs,	as	well	as	zinc	
and	arsenic.				
b. PAHs	found	to	be	contained	in	the	crumb	rubber	“were	above	the	concentration	levels	that	the	New	
York	State	Department	of	Environmental	Conservation	(DEC)	considers	sufficiently	hazardous	to	
public	health	to	require	their	removal	from	contaminated	soil	sites.	It	is	highly	likely	that	all	six	PAHs	
are	carcinogenic	to	humans.”						
c. “The	analyses	also	revealed	levels	of	zinc	in	both	samples	that	exceed	the	DEC's	tolerable	levels.”						
d. The	researchers	associated	with	these	findings	were	careful	to	state	“We	want	to	emphasize	that	
the	findings	are	preliminary.	PAHs	in	rubber	might	not	act	the	same	way	as	in	soil,	and	we	do	not	yet	
have	information	on	the	ease	with	which	the	PAHs	in	these	rubber	particles	might	be	absorbed	by	
children	or	adults	--	by	ingestion,	inhalation,	or	absorption	through	the	skin.	However,	the	findings	
are	worrisome.	Until	more	is	known,	it	wouldn't	be	prudent	to	install	the	synthetic	turf	in	any	more	
parks.”			
Kazakova,	S.	V.	et	al.		(2005).	A	clone	of	methicillin-resistant	Staphylococcus	aureus	among	professional	
football	players.	New	England	Journal	of	Medicine,	352(5),	468-475.		Available	at:	
http://www.nejm.org/doi/pdf/10.1056/NEJMoa042859		
a. In	a	study	of	professional	football	players	from	the	St.	Louis	Rams	team,	all	MRSA	infections	
developed	at	sites	of	turf	burns.	
b. Players	reported	a	higher	frequency	of	abrasions	when	playing	on	artificial	turf	compared	to	natural	
grass.		
Begier,	E.	M.	et	al.	(2004).	A	high-morbidity	outbreak	of	methicillin-resistant	Staphylococcus	aureus	among	
players	on	a	college	football	team,	facilitated	by	cosmetic	body	shaving	and	turf	burns.	Clinical	infectious	
diseases,	39(10),	1446-1453.	(a	study	conducted	for	the	Connecticut	Department	of	Public	Health,	Student	
Health	Services	of	Sacred	Heart	Univ,	Centers	for	Disease	Control	and	Prevention,	Minnesota	Department	of	
Public	Health,	and	the	Los	Angeles	County	Department	of	Health	Services).	
a. In	a	study	of	MRSA	outbreaks	involving	college	football	players,	infection	was	associated	with	turf	
burns	from	artificial	grass.	Turf	burns	increased	the	risk	of	infection	regardless	of	the	type	and	
timing	of	care	provided	the	burn.		Turf	burns	may	be	facilitating	infection	by	acting	as	a	pathway	for	
infection.		
Shorten,	M.	R.,	&	Himmelsbach,	J.	A.	(2003).	Sports	surfaces	and	the	risk	of	traumatic	brain	injury.	Sports	
surfaces.	University	of	Calgary,	Calgary,	49-69.	Available	at:	
http://biomechanica.com/docs/publications/docs/Shorten%20-%20Head%20Injury%20Risk.pdf			
a. There	is	double	the	risk	of	head	traumas	such	as	concussions	associated	with	artificial	turf	compared	
to	natural	turf,	and	artificial	turf	presents	a	5	times	greater	risk	of	more	severe	head	injury.			
b. Concussions	(formally	described	as	Mild	Traumatic	Brain	Injury	or	MTBI)	resulting	from	sports	has,	
according	to	the	US	Centers	for	Disease	Control,	reached	“epidemic	proportions,”	and	these	’mild’	
head	traumas,	especially	a	series	of	concussions,	can	have	long	term,	negative	effects	on	cognitive	
function.					
Naunheim,	R.,		et	al.	(2002).	Does	the	use	of	artificial	turf	contribute	to	head	injuries?.	Journal	of	TraumaInjury,	Infection,	and	Critical	Care,	53(4),	691-694.	
a. The	impact-attenuating	properties	of	two	artificial	fields	were	compared	to	a	grass	outdoor	practice	
field.		Both	artificial	surfaces	were	harder	compared	to	the	outdoor	grass	field.		It	was	concluded	
that	the	low	impact	attenuation	of	the	artificial	turf	may	be	contributing	to	the	high	incidence	of	
concussion.	
Guskiewicz,	K.	M.,		et	al.	(2000).	Epidemiology	of	concussion	in	collegiate	and	high	school	football	players.	
The	American	Journal	of	Sports	Medicine,	28(5),	643-650.		

Page 7 of 10

a. In	a	survey	of	both	high	school	and	collegiate	certified	athletic	trainers	representing	over	17,000	
football	players,	contact	with	artificial	turf	was	associated	with	more	serious	concussion	than	
contact	with	natural	grass.		
	
	
Environment:	The	pollutant	substances	found	in	artificial	turf	contribute	to	contamination	of	soil,	plants	and	aquatic	
ecosystems	and	pose	a	risk	of	toxic	effects	for	aquatic	and	sediment	dwelling	organisms.		The	resulting	
environmental	harm	is	on-going	and	long-term,	happening	over	many	years.	The	varying	content	of	tires	used	for	
infill	of	turf	systems	makes	this	threat	a	moving	target.	A	growing	body	of	scientific	analysis	is	documenting	a	
concerning	level	of	environmental	threat	and	harm	and	is	further	demonstrating	the	need	for	more	research	
regarding	artificial	turf	and	its	ramifications	for	the	environment.		
1. Public	Employees	for	Environmental	Responsibility	(PEER)	(2012).	Petition	for	a	Rulemaking	on	Surface	Heat	
from	Artificial	Turf,	Submitted	by	PEER	to	Consumer	Product	Safety	Commission,	Sept	6,	2012.		Available	at:	
http://www.peer.org/assets/docs/doc/9_6_12_PEER_Petition_heat_rulemaking.pdf		
a. As	well	explained	by	an	oft	cited	petition	to	the	Consumer	Product	Safety	Commission	for	
rulemaking:		“When	tires	are	shredded	and	pulverized,	their	surface	area	increases	exponentially,	as	
does	the	particulate	and	gas	yield	from	the	tire	material.		Since	tires	are	made	of	very	harmful	
materials,	including	24	gases	found	to	be	harmful	to	humans,	carbon	black,	(a	carcinogen	which	
makes	up	30%	of	tires),	latex,	benzothiazoles,	phthalates,	lead,	mercury,	cadmium,	zinc	and	many	
other	known	toxins,	when	the	fields	heat	up,	they	become	increasingly	dynamic.		Of	primary	
concern	is	the	interaction	of	particles	and	gases,	‘because	when	particles	adsorb	onto	the	surface	of	
gases,	they	become	10-20	times	more	toxic	than	the	materials	themselves.’”		
b. Furthermore,	artificial	turf	becomes	more	toxic	as	it	heats	up.	
2. Sadiktsis,	I.,	et	al.	(2012).	Automobile	Tires 	A	Potential	Source	of	Highly	Carcinogenic	Dibenzopyrenes	to	
the	Environment.	Environmental	science	&	technology,	46(6),	3326-3334.	Available	at:		
http://www.locchiodiromolo.it/blog/wp-content/uploads/2012/03/Sadiktsis-et-al-Automobile-TiresPotential-Source-of-Highly-Carcinogenic-2012.pdf		
a. The	variability	in	PAH	concentrations	between	different	tires	is	large.	
b. Due	to	“leaching	of	PAHs	from	recycled	tire	rubber	material,	tires	are	a	source	of	environmental	
pollution	of	PAHs	through	their	entire	lifecycle.”	
3. Connecticut	Department	of	Environmental	Protection	(2010).	Artificial	Turf	Study:	Leachate	and	Stormwater	
Characteristics,	Final	Report.	Available	at:	
http://www.ct.gov/deep/lib/deep/artificialturf/dep_artificial_turf_report.pdf		
a. Stormwater	runoff	from	artificial	turf	contained	zinc,	manganese,	and	chromium	at	levels	toxic	to	
aquatic	organisms.		
b. Therefore,	there	is	a	potential	risk	to	surface	waters	from	the	installation	of	artificial	turf.		Zinc	levels	
could	cause	exceedance	of	acute	aquatic	toxicity	criteria.		This	risk	is	especially	high	for	smaller	
watercourses.		
c. Best	management	practices	and	treatment	(i.e.	wetlands,	wet	ponds,	infiltration	structures,	
compost	filter,	sand	filters,	or	biofiltration	structures)	should	be	used	for	stormwater	runoff	from	
artificial	turf	fields	that	discharge	to	surface	waters.		
4. Yaghoobian,	N.,	et	al.	(2010).	Modeling	the	thermal	effects	of	artificial	turf	on	the	urban	environment.	
Journal	of	Applied	Meteorology	and	Climatology,	49(3),	332-345.		
a. An	urban	temperature	model	showed	an	increase	in	local	atmospheric	temperatures	of	up	to	4°	C	
(39°	F)	in	areas	where	natural	grass	cover	had	been	replaced	with	artificial	turf.		
5. Han,	I.	K.,	et	al.	(2008).	Hazardous	chemicals	in	synthetic	turf	materials	and	their	bioaccessibility	in	digestive	
fluids.	Journal	of	Exposure	Science	and	Environmental	Epidemiology,	18(6),	600-607.		Available	at:	
http://www.nature.com/jes/journal/v18/n6/pdf/jes200855a.pdf	

Page 8 of 10

6.

7.

8.

9.

a. Zinc	was	found	to	exceed	soil	limits	and	the	leaching	rate	from	rubber	granules	was	up	to	20	times	
more	than	the	leaching	rate	from	agricultural	applications	of	manure	and	pesticides.		“Runoff	with	
high	Zn	[zinc]	from	synthetic	turf	fields	may	produce	adverse	effects	to	plants	and	aquatic	life.”		
KEMI,	Swedish	Chemicals	Agency	(2007).		Facts:	Synthetic	Turf.	April	2007.		Available:	
http://www2.kemi.se/upload/trycksaker/pdf/faktablad/fbsyntheticturf.pdf.		
a. Hazardous	substances	found	in	tires	may	persist	in	the	environment	including	polycyclic	aromatic	
hydrocarbons	(PAHs),	phthalates,	phenols,	and	certain	metals.			
b. Most	PAHs	are	persistent,	bioaccumulative	and	carcinogenic.				
c. Phthalates	and	phenols	are	not	chemically	bound	to	the	rubber	and	as	a	result	can	leach	from	the	
infill	material.			These	chemicals	are	persistent	and	bioaccumulative	and	can	have	long-term	effects	
on	the	environment.				
Meil,	J.,	&	Bushi,	L.	(2006).	Estimating	the	Required	Global	Warming	Offsets	to	Achieve	a	Carbon	Neutral	
Synthetic	Field	Turf	System	Installation.	Athena	Institute.	Ontario	Canada.	Available	at:	
http://sfrecpark.org/wp-content/uploads/AthenaICarbonOffsets.pdf		
a. Artificial	turf	systems	have	a	carbon	footprint	due	to	the	greenhouse	gases	emitted	during	the	life	
cycle	of	synthetic	turf	systems	compared	to	natural	grass	surfaces.	
b. To	achieve	a	10-year	carbon	neutral	synthetic	turf	installation,	1861	trees	would	need	to	be	planted	
to	offset	the	field’s	carbon	footprint.	
Källqvist,	T.	(2005).	Environmental	risk	assessment	of	artificial	turf	systems.	Norwegian	Institute	for	Water	
Research,	19.	
a. Recycled	rubber	varies	considerably	in	its	chemical	composition,	even	when	from	the	same	
manufacturer.	
b. Leaching	of	contaminants	from	artificial	turf	as	the	result	of	surface	water	runoff	from	precipitation	
is	a	great	risk	for	the	environment.		It	is	predicted	that	chemicals	leaching	from	synthetic	turf	
materials	occurs	slowly,	and	as	a	result	the	environmental	harms	may	take	place	over	many	years.	
There	is	also	a	level	of	“erosion”	that	takes	place	and	can	result	in	fine	particles	that	could	be	carried	
to	local	waterways.	Chemicals	have	even	been	shown	to	leach	from	the	artificial	turf	fibers.		
c. The	leachate	from	artificial	turf	can	contain	a	variety	of	metals	(including	lead,	cadmium,	copper,	
mercury	and	zinc)	and	organic	pollutants	(including	PAHs,	phthalates,	4-t-octylphenol	and	isononyphenol).		
d. The	runoff	from	an	artificial	turf	field	poses	“a	positive	risk	of	toxic	effects	on	biota	in	the	water	
phase	and	in	the	sediment.”		
e. Of	the	organic	compounds	at	issue,	octylphenol	represents	the	greatest	risk,	and	possibly	could	
occur	at	levels	where	hormone	disrupting	effects	are	a	concern.	
f. The	Norwegian	Institute	for	Water	Research	has	determined	that	it	is	“appropriate	to	perform	a	risk	
assessment	which	covers	water	and	sediments	in	watercourses	which	receive	run-off	from	artificial	
turf	pitches.”	
Thale,	S.W.	et	al.	(2004)	Potential	Health	and	Environmental	Effects	Associated	with	Synthetic	Turf	Systems-	
final	report.	Byggforsk,	Norwegian	Building	Research	Institute.		Available	at:	http://www.issssportsurfacescience.org/downloads/documents/vskyslv2qq_nbiengelsk.pdf	
a. While	recycled	rubber	is	a	greater	source	of	pollution,	newly	manufactured	rubber	also	contains	
levels	of	hazardous	substances;	in	the	case	of	zinc	and	chromium	the	levels	of	recycled	and	newly	
manufactured	rubber	are	comparable.	
b. The	synthetic	grass	fibers	can	also	be	a	significant	source	of	pollution,	albeit	significantly	lesser	
amounts	leach	from	the	synthetic	grass	than	the	rubber	infill		

Page 9 of 10

10. Tucker,	M.R.	(1997).	Ground	Rubber:	Potential	Toxicity	to	Plants.	Media	Notes	for	North	Carolina	Growers,	
North	Carolina	Dept.	of	Agriculture	&	Consumer	Services,	April	1997.		Available	at:	
http://www.ncagr.gov/agronomi/pdffiles/rubber.pdf		
a. When	talking	about	the	use	of	ground	rubber	as	a	supplement	to	planting	soils,	the	North	Carolina	
Department	of	Agriculture	and	Consumer	Services	sent	out	a	notice	identifying	the	risk	that	zinc	
leaching	from	the	rubber	causes	a	decline	in	plant	growth	“directly	attributable	to	zinc	toxicity.”	
11. Quoting	Dr.	Linda	Chalker-Scott,	Washington	State	University	-	Turfgrass	Resource	Center,	Facts	About	
Artificial	Turf	and	Natural	Grass.	(n.d.)	Available	at:	http://plasticfieldsfornever.org/ArtificialTurfBooklet.pdf		
a. “There	is	no	question	that	toxic	substances	leach	from	rubber	as	it	degrades,	contaminating	the	soil,	
flora,	and	fauna	and	aquatic	systems.”	
12. Turfgrass	Resource	Center	(n.d.)	Facts	About	Artificial	Turf	and	Natural	Grass.		Available	at:	
http://plasticfieldsfornever.org/ArtificialTurfBooklet.pdf		
a. Part	of	artificial	turf	maintenance	is	the	regular	replenishment	of	the	infill.		Some	of	the	infill	is	
merely	settling,	but	some	of	it	is	washing	away	or	literally	“walking	away”	with	players	after	use.		
The	effects	of	this	“runaway”	infill	are	unknown	and	more	research	is	needed	to	draw	conclusions–	
where	is	it	going	and	what	impacts	is	it	having?	
b. Maintenance	of	artificial	turf	can	include	application	of	algaecides	or	disinfectants	to	keep	the	
surface	clean	and	application	of	fabric	softener	to	mask	the	odor	of	the	artificial	turf.		What	is	the	
final	destination	of	these	chemicals	and	their	implications	for	the	environment	and	those	coming	
into	contact	with	them	while	playing	on	the	fields?			
c. There	is	no	indication	that	artificial	turf	drains	more	effectively	for	purposes	of	a	stormwater	
infiltration	system	than	natural	grass.		In	addition,	infiltration	systems	are	designed	to	work	with	
whatever	surface	coating	they	receive	from	natural	grass	to	porous	paving.		Although	there	is	no	
assumed	benefit	from	an	infiltration	perspective	of	natural	turf	or	artificial	turf,	in	many	cases	the	
complex	systems	designed	for	artificial	turf	fields	have	experience	problems,	work	incorrectly,	or	
inefficiently.	
	

Page 10 of 10

Fact Sheet

Artificial/Synthetic Turf
While professional sports are turning away from artificial turf, it is gaining ground and
use at the local level at schools and community fields. Producers of artificial turf
make claims of environment, health and safety benefits associated with artificial turf –
when they make these blanket claims they are not giving the full picture.
In terms of environment, health and safety, the jury is still very far out
on artificial turf. There continues to be information documenting harm in
each of these arenas. Most of all, there is a widespread demonstration
and recognition that in terms of environmental, health and safety threats
from artificial turf, much more study, analysis and consideration is
needed. And whatever the final outcome of the research, manufacturers neglect the
reality that as much as they try to mimic natural grass, artificial turf is not grass, and
cannot provide the same natural feel, natural look, natural smell and environmental
benefits that natural grass provides.
Artificial Turf is generally comprised of plastic fibers (generally made of polyethylene,
polypropylene or nylon) attached to a polypropylene or polyester plastic webbing. A
combination of sand and rubber, or sometimes rubber alone, fills between the fibers.
The source for the rubber infill is generally recycled tires. Sometimes newly
manufactured rubber granulate is used but the cost is so much greater than the
recycled tire form that it is generally not the substance used. New developments in
artificial turf technology seem continually in the works.
Water Quality:

While it seems well recognized that there is a limited level of assessment and
investigation into the environmental impacts associated with artificial turf, a growing
body of scientific analysis is documenting a concerning level of environmental threat
and harm and is further demonstrating the need for more research regarding artificial
turf and its ramifications for the environment.
Synthetic turf is generally made with rubber from waste tires. Recycled rubber varies
considerably in its chemical composition, even when from the same manufacturer.1
Hazardous substances found in tires may persist in the environment including
polycyclic aromatic hydrocarbons (PAHs), phthalates and certain metals. These
substances may be bioaccumulative, carcinogenic, reprotoxic, mutagenic and/or
endocrine disrupting.2 The chemicals in waste tires are of such concern that a report
published by the Swedish Chemicals Inspectorate recommends: “waste tyres should
not be used for synthetic turf surfaces.” 3
• Most PAHs are persistent, bioaccumulative and carcinogenic.4
• Phthalates are generally used as solvents and plasticisers in plastics. Phthalates
are not chemically bound to the rubber and as a result can leach from the infill
material.5
• Phenols likewise are not chemically bound to the rubber and so can leach.
Phenols too are persistent and bioaccumulative and can have long-term effects
on the environment.6
• Among the metals found in tires that may be of concern are zinc, lead, copper,
chromium and cadmium. While zinc and copper are essential for living
organisms, when absorbed at high levels they become harmful. Lead can affect
reproduction, development of the nervous system leading to poor cognitive
development, and is a particular threat to fetuses and young children.
Chromium is carcinogenic and mutagenic. Cadmium is toxic to humans and if
taken in can contribute to poor liver and kidney function, as well as
osteoporosis. 7
The Connecticut Agricultural Experiment Station conclusively found four compounds
which out-gassed and leached into water from synthetic turf rubber crumb under
ambient temperatures:
Ø Benzothiazole (a skin and eye irritant),
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 7.
2
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
3
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
4
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
5
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
6
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
7
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
1

Page 2 of 13
Artificial Turf Fact Sheet, 9/9/07

Ø Butylated hydroxyanisole (a “recognized carcinogen, suspected endocrine
toxicant, gastrointestinal toxicant, immune toxicant, neurotoxicant, skin and
sense-organ toxicant”),
Ø n-hexadecane (a severe irritant) &
Ø 4-(t-octyl) phenol (“corrosive and destructive to mucous membranes”).8
As rubber degrades it can leach toxic substances which can contaminate soil, plants
and aquatic ecosystems.9 Study has concluded that the use of tires in artificial turf
has the potential to pollute our environment with PAHs, phenols and zinc10 and that
runoff from an artificial turf field draining to a local creek can pose “a positive risk of
toxic effects on biota in the water phase and in the sediment.”11 Other metal
contaminants found to leach from tire crumb rubber include zinc, selenium, lead and
cadmium.12 Zinc has also been shown to leach from the artificial turf fibers.13
Extreme temperatures or solvents are not needed to release these metals, volatile
organic compounds or semi-volatile organic compounds from the rubber in-fill of
artificial turf into the air or water – release takes place in ambient air and water
temperatures.14
Leaching of substances as the result of surface water runoff from precipitation has,
by some researchers, been predicted to be the greatest risk for the environment from
artificial turf. 15 Study shows there is a risk of local effects for aquatic and sediment
dwelling organisms in impacted water courses. 16 Recycled rubber, and associated
The Connecticut Agricultural Experiment Station, Examination of Crumb Rubber Produced from
Recycled Tires, August 2007; Environment & Human Health, Inc., Artificial Turf, Exposures to GroundUp Rubber Tires, 2007.
9
Quoting Dr. Linda Chalker-Scott, Washington State University -- Turfgrass Resource Center, Facts
About Artificial Turf and Natural Grass; T. Kallqvist, Norwegian Institute for Water Research(NIVA),
Environmental Risk Assessment of Artificial Turf Systems, December 2005, p. 17.; Connecticut
Agricultural Experiment Station, Examination of Crumb Rubber Produced from Recycled Tires.
10
T. Kallqvist, Norwegian Institute for Water Research(NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 5; T. Edeskar, Lulea University of Technology, Technical and
Environmental Properties of Tyre Shreds Focusing on Ground Engineer Application, 2004 as cited in
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
11
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 6.
12
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
13
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 17.
14
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
15
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 5; NIVA (The Norwegian Institute for Water Research),
Evaluation of the Environmental Risks of Synthetic Turf, 2005; KEM, Swedish Chemicals Agency, Facts:
Synthetic Turf, April 2007.
16
T. Kallqvist, Norwegian Institute for Water Research(NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 5; NIVA (The Norwegian Institute for Water Research),
Evaluation of the Environmental Risks of Synthetic Turf, 2005, as cited by KEM, Swedish Chemicals
8

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Artificial Turf Fact Sheet, 9/9/07

leachate, has been found to contain a variety of metals (including lead, cadmium,
copper, mercury and zinc), as well as organic pollutants such as PAHs, phthalates, 4-toctylphenol and iso-nonyphenol. 17 The leaching of zinc has been determined to be of
major environmental concern.18 The leaching of zinc increases as the rubber infill
weathers over time,19 it is likely this is the same for other contaminants. While Zinc
contributes the most risk, phenols (specifically octylphenol) and PAHs are also of
concern. 20 Of the organic compounds at issue, Octylphenol represents the greatest
risk, and possibly could occur at levels where hormone disrupting effects are a
concern. 21 The varying content of tires makes this threat a moving target.
The Norwegian Institute for Water Research has determined that it is “appropriate to
perform a risk assessment which covers water and sediments in watercourses which
receive run-off from artificial turf pitches.”22
While recycled rubber is a greater source of pollution, newly manufactured rubber also
contains level of hazardous substances; in the case of zinc and chromium the levels of
recycled and newly manufactured rubber are comparable.23
It is predicted that chemicals leaching from synthetic turf materials occurs slowly, and
as a result the environmental harms may take place over many years.24
Leaching may not be the only source of water contamination from artificial turf. As
the artificial turf is used there is a level of “erosion” that takes place and can result in

Agency, Facts: Synthetic Turf, April 2007; KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April
2007
17
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 7.
18
INTRON, Environmental and Health Risks of Rubber Infill, rubber crumb from car tyres as infill on
artificial turf, February 9, 2007.
19
INTRON, Environmental and Health Risks of Rubber Infill, rubber crumb from car tyres as infill on
artificial turf, February 9, 2007.
20
NIVA (The Norwegian Institute for Water Research), Evaluation of the Environmental Risks of
Synthetic Turf, 2005, as cited by KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
21
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 17.
22
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 8.
23
Byggforsk, SINTEF Building and Infrastructure, Potential Health and Environmental Effects Associated
with Synthetic Turn Systems, 2004, as referenced in KEM, Swedish Chemicals Agency, Facts: Synthetic
Turf, April 2007.
24
T. Kallqvist, Norwegian Institute for Water Research(NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 5; NIVA (The Norwegian Institute for Water Research),
Evaluation of the Environmental Risks of Synthetic Turf, 2005, as cited by KEM, Swedish Chemicals
Agency, Facts: Synthetic Turf, April 2007.
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Artificial Turf Fact Sheet, 9/9/07

fine particles that could be carried to local waterways. This source of contamination
needs study.25
The synthetic grass fibers can also be a significant source of pollution, particularly
zinc, albeit significantly lesser amounts leach from the synthetic grass than the rubber
infill.26
Concerns about the environmental and health effects of synthetic turf in European
countries is so great that standards and/or guidelines have been set or are under
consideration. For example: Germany has set standards for the use of synthetic turf
including a maximum allowable level of pollution or contamination of water and soil,
with a requirement of regular sampling to ensure these standards are not exceeded.
Allowable pollution levels include: lead 0.04 mg/l, cadmium 0.005 mg/l; chromium
0.05 mg/l, mercury 0.001 mg/l and zinc 3.0 mg/l or 0.5 mg/l depending on the
testing method used. 27 Holland has also suggested appropriate language for a
standard applicable to use of synthetic turf including a ban on the use of carcinogens,
mutagenic, reprotoxic, persistent, bioaccumulative and toxic, or very persistent and
very bioaccumulative substances in the surface layer of the turf and a limitation on
the level of substances in the rubber infill that may cause cancer, may cause heritable
genetic damage, may cause cancer by inhalation, are toxic or harmful to aquatic
organisms or may cause long term affects on the aquatic environment, that may
impair fertility or cause harm to unborn children. Sweden has set guidelines and
limiting values for some of the substances that are present in synthetic turf,
specifically as it relates to air pollution, soil contamination and water pollution. 28 And
because vehicle tires contain levels of several substances of “very high concern”, the
recycling and use of tires in synthetic turf is apparently in conflict with the Swedish
environmental objective of A Non Toxic Environment.29
Part of artificial turf maintenance is the regular replenishment of the infill. There is a
need for research into the loss of existing infill – where is it going and what impacts is
it having?30
Maintenance of artificial turf can include application of algaecides or disinfectants to
keep the surface clean. 31 Maintenance could also include application of fabric
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 18.
26
Byggforsk, SINTEF Building and Infrastructure, Potential Health and Environmental Effects Associated
with Synthetic Turn Systems, 2004, as referenced in KEM, Swedish Chemicals Agency, Facts: Synthetic
Turf, April 2007.
27
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
28
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
29
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
30
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
25

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Artificial Turf Fact Sheet, 9/9/07

softener to mask the odor of the artificial turf. 32 What is the final destination of
these chemicals and their implications for the environment and those coming into
contact with them while playing on the fields? More information is needed on this
subject as well.
Stormwater:
There is no indication that artificial turf drains more effectively for purposes of a
stormwater infiltration system than natural grass. In addition, infiltration systems are
designed to work with whatever surface coating they receive from natural grass to
porous paving. It should be noted that while generally there can be no assumed
benefit from an infiltration perspective of natural turf or artificial turf, there are
instances where schools have experienced problems with the drainage of their artificial
turf fields. 33
Natural grass provides a level of evapotranspiration, pulling water out of the soil and
subsurface and releasing it to the air, providing benefits in reducing the volume of
runoff that results from a site and/or needs to be addressed by other stormwater
management strategies. Artificial turf has no evapotranspiration capabilities.
Grass does provide a level of pollution filtering and therefore water quality protection
for nearby waterways. While this filtering may be limited in the case of turf grass;
such filtering is nonexistent with artificial turf.
Heat Island Effect – for Human Health and Surrounding communities:
Extreme heat is a health concern. Studies document that the surface temperature on
artificial turf is dramatically increased as compared to surrounding land uses including
asphalt.
In a 2002 study it was found that “the surface temperature of the synthetic turf was
37° F higher than asphalt and 86.5° F hotter than natural turf.” 34 A study published
in the Journal of Health and Physical Education and Recreation showed “surface
temperatures as much as 95 to 140 degrees Fahrenheit higher on synthetic turf than
natural turfgrass when exposed to sunlight.” 35 Random sampling at Brigham Young
University identified temperatures ranging from 117.38 to 157 degrees on artificial
turf while neighboring natural grass areas were in the range of 78.19 to 88.5 degrees
Fahrenheit. “Two inches below the synthetic turf surface was 28.5° F hotter than
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
33
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
34
Dr. C. Frank Williams and Dr. Gilbert E. Pulley, Synthetic Surface Heat Studies, Brigham Young
University.
35
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
31
32

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Artificial Turf Fact Sheet, 9/9/07

natural turf at the surface.”36 And still another study comparing temperatures on
artificial turf temperatures with air temperature found that artificial turf ranged from
58 to 75 degrees hotter than measured air temperature.37 While irrigation provided
significant cooling for the synthetic turf (lowering the temperature from 174° F to
85° F) after only 5 minutes the temperature quickly rose again to 120°F; after 20
minutes it rose to 164°F.38
Concerns regarding the excessive temperatures range from the implications for
players who are already exerting themselves playing in such excessively high
temperatures, to the implications for burns when players or pedestrians come into
contact with the hot surfaces, to the implications for small children who may come
into contact with the extremely hot surfaces during non-sporting events. Particularly
when installed in already built up areas, what affect does the extreme heat associated
with artificial turf have on the surrounding community in terms of temperature?
Natural grass, by comparison, provides a natural cooling affect and helps to dissipate
heat from neighboring developed areas.39 “The temperature of natural grass rarely
rises above 85 degrees Fahrenheit, regardless of air temperature.” 40
The heat impacts of artificial turf need to be considered in the context of today’s
changing climate. Global climate change is expected to dramatically increase the
number of days over 100 degrees communities in our region experience. Depending
on how aggressively global warming gasses are reduced in coming years, communities
nearby Philadelphia will begin to experience in the range of 10 days (in lower emission
scenarios) to 30 days (if higher emission scenarios continue to prevail) over 100o.41
By later in this century seasonable temperatures are projected to rise 6oF to 14oF in

summer (depending again on emission reductions achieved in the future). 42
Educators and decisionmakers selecting artificial turf based on its long-term
viability and community impacts should consider the affect of global climate
change to magnify the heat impacts of artificial turf.
Dr. C. Frank Williams and Dr. Gilbert E. Pulley, Synthetic Surface Heat Studies, Brigham Young
University.
37
T. Sciacca, The Thermal Physics of Artificial Turf, January 2008.
38
Dr. C. Frank Williams and Dr. Gilbert E. Pulley, Synthetic Surface Heat Studies, Brigham Young
University.
39
James B. Beard & Robert L. Green, The Role of Turfgrasses in Environmental Protection and Their
Benefits to Humans, J. Environ Qual. 23:452-460 (1994).
40
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
41
Union of Concerned Scientists, Confronting Climate Change in the U.S. Northeast l New Jersey,
2007.
42
Union of Concerned Scientists, Confronting Climate Change in the U.S. Northeast l New Jersey,
2007.
36

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Artificial Turf Fact Sheet, 9/9/07

Health Issues:
Direct human exposure to the hazardous substances contained in the rubber in-fill of
artificial turf is believed to occur via three pathways: inhalation, skin contact, or
ingestion including by children or infants who come into contact with the material.43
In October 2006 and January 2007, respectively, two sites in New York where
synthetic turf has been used (the large, 3 year old, Parade Ground in Brooklyn; the
relatively small 5 month old Sara D. Roosevelt Park in Manhattan) were analyzed. This
testing found PAHs at hazardous levels (as per New York standards) at each of the
sites. At both sites dibenzo (a.h)anthracene, a probable human carcinogen, was found
at hazardous levels, with two other PAH forms, both possible human carcinogens,
found at hazardous levels at the Parade Ground site. Research into the pathways by
which these substances may be absorbed into the bodies of children and athletes via
skin contact, ingestion or other pathways, is very limited with additional research
needed.44
A study by the California Office of Environmental Health Hazard Assessment (OEHHA)
summarized 46 studies that identified 49 chemicals which are released from tire
crumb. Of the 49, “seven of the chemicals leached from tire shreds were carcinogens.
OEHHA calculated a cancer risk of 1.2 in 10 million based on a one-time ingestion of
the tire crumb rubber over a lifetime.”45 While there are limited studies which assert
that recycled tire crumb are stable in the gastrointestinal tract and that therefore this
is not a pathway for exposure, there are other studies which contradict these
findings.46
Concerns have been raised about the potential implications of recycled tire in-fill for
individuals with latex allergies and that inhalation could result in a systemic response,
as opposed to a contact response.47
While, “the status of the information about human exposures to recycled tire crumb
rubber in-fill … is not sufficient to determine the safety of the use of the product in
situations that involve continuous episodes of human exposure;” 48 “the available

Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
Rachel’s’ Democracy & Health News #992, Hazardous Chemicals in Synthetic Turf, Follow-up
Analyses, April 12, 2007.
45
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007 citing
California Office of Environmental Health Hazard Assessment (OEHHA), Evaluation of Health Effects of
Recycled Waste Tires in Playground and Track Products, January, 2007.
46
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
47
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
48
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
43
44

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Artificial Turf Fact Sheet, 9/9/07

information is sufficient and strong enough to raise plausible questions with respect to
acute toxicity for susceptible persons, and for cancer risks.”49
There is great debate about whether artificial turf can increase exposure to, and
infection from, MRSA (methicillin-resistant staphylococcus aureus). Reports including
a December 21, 2007 article in the Bloomberg Press reporting the affliction of an 18
year old football player from MRSA as the result (according to the boy’s doctor) of an
abrasion he received from playing on artificial turf, and citing other findings linking
MRSA infections with artificial turf,50 are a great concern for parents and sports
players alike. Defenders of artificial turf often refer to studies like that of the Penn
State Department of Crop and Soil Sciences which finds that Staphylococcus aureus is
commonplace in the human environment, including on both artificial turf and natural
grass fields.51 But even this study acknowledges that there is no conclusive evidence
currently available that the source of bacteria causing the infections of sports players
is not artificial turf. In addition, the study does not consider the link between burns
sustained while playing on artificial turf and available bacteria as a pathway for
infection. New studies are emerging that demonstrate that turf burns may be
facilitating infection by acting as a pathway for infection.52 Study has found that turf
burns increased the risk of infection regardless of the type and timing of care
provided the burn. 53
Concussions (formally described as Mild Traumatic Brain Injury or MTBI) resulting from
sports has, according to the US Centers for Disease Control, reached “epidemic
proportions.”54 “’Mild’ head traumas, and especially a series of such minor
concussions can have long term, negative effects on cognitive function.” 55 Study has
documented that artificial turf increases the risk of MTBI over natural turf,
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
Texas Football Succumbs to Virulent Staph Infection from Turf, December 21, 2007, Bloomberg
Press.
51
Penn State Department of Crop and Soil Sciences, A Survey of Microbial Populations in Infilled
Synthetic Turf Fields.
52
A High Morbidity Outbreak of Methicillin-Resistant Staphylococcus aureus among Players on a College
Football Team, Facilitated by Cosmetic Body Shaving and Turf Burns, study conducted 2004 for
Connecticut Dept of Public Health, Student Health Services of Sacred Heart Univ, Centers for Disease
Control and Prevention, Minnesota Dept of Public Health, Los Angeles County Dept of Health Svces; Dr.
S.V. Kazakova et.al., A Clone of Methicillin-Resistant Staphylococcus aureus among Professional Football
Players, The New England Journal of Medicine, Vol 352:468-475 No. 5, Feb. 3, 2005.
53
A High Morbidity Outbreak of Methicillin-Resistant Staphylococcus aureus among Players on a College
Football Team, Facilitated by Cosmetic Body Shaving and Turf Burns, study conducted 2004 for
Connecticut Dept of Public Health, Student Health Services of Sacred Heart Univ, Centers for Disease
Control and Prevention, Minnesota Dept of Public Health, Los Angeles County Dept of Health Svces.
54
Dr. M. Shorten, J.A. Himmelsbach, BioiMechanica, Sports Surfaces and the Risk of Traumatic Brain
Injury citing the US Centers for Disease Control.
55
Dr. M. Shorten, J.A. Himmelsbach, BioiMechanica, Sports Surfaces and the Risk of Traumatic Brain
Injury.
49
50

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Artificial Turf Fact Sheet, 9/9/07

approximately doubling that risk, as well as causing a greater degree of trauma.56
According to study, artificial turf presents a 5 times greater risk of the more severe
head injury than natural turf, although it is still unknown the particular characteristics
of the two surfaces that cause the difference in head injury incidence. 57
Costs:
It is generally agreed that artificial turf costs more to install than natural grass, while
natural grass costs more to maintain. Installation and maintenance costs for each
must be assessed on a case by case basis depending on site specific conditions. But
generally speaking, when the installation and maintenance costs of artificial turf are
assessed for the life span of the turf, particularly when the cost of disposal is added,
the cost of installing and maintaining natural grass is far less. The guaranteed life
and/or lifespan of artificial turf is 8 to 10 years.58 Some attempt to claim a longer life
in order to assert a lower annual cost.59 Comparative cost figures for artificial turf
and natural grass include:
Artificial Turf

Source: San Francisco
Rec and Parks 60
Installation
Annual Maintenance
Cost of Disposal
Average annual cost for
guaranteed life of 8 years.
Average annual cost for life
of 10 years
Average annual cost for life
of 15 years (maximum life
span seen asserted in the

Natural Grass

$800,000

$260,000

$6,000
Unknown but significant as a
hazardous waste
$106,000

$42,000
$0

$86,000

$68,000

$59,333

$59,333

$74,500

Dr. M. Shorten, J.A. Himmelsbach, BioiMechanica, Sports Surfaces and the Risk of Traumatic Brain
Injury.
56

Dr. M. Shorten, J.A. Himmelsbach, BioiMechanica, Sports Surfaces and the Risk of Traumatic Brain
Injury. See also K.M. Guskiewica, N.L. Weaver, D.A. Padua, W.E. Garrett Jr., Epidemiology of Concussion
in Collegiate and High School Football Players, Sep-Oct 2000 & Does the Use of Artificial Turf
Contribute to Head Injuries, The Journal of Trauma-Injury, Infection and Critical Care, Oct 2002 for the
finding that artificial turf increases the level of injury in comparison to natural grass fields.
58
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
59
San Francisco Recreation & Parks, Natural and Synthetic Turf: A Comparative Analysis, December 20,
2005.
60
San Francisco Recreation & Parks, Natural and Synthetic Turf: A Comparative Analysis, December 20,
2005.
57

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Artificial Turf Fact Sheet, 9/9/07

literature)

Source: Facts About
Artificial Turf and
Natural Grass 61
Cost of construction and
maintenance per sq. ft.

Cost of disposal per sq. ft.
Springfield College case
study installation and
maintenance average annual
cost during 8 year
guaranteed life of artificial
turf – no disposal costs
included

Source: A Guide to
Synthetic and Natural
Turfgrass for Sports
Fields. 62
Cost of installation per
square foot

Annual Maintenance
Disposal per square foot –
note this cost does not
include the cost of
transportation or landfill

$7.80 – $10.75

$1.75 - $2.25
$105,000
($800,000 install & annual
maintenance of $5,000)
For a 10 year life the figure
is $85,000;
for 15 years it is $58,377

$7.80 to $10.75

$5,000 to $25,000
$1.75 to $2.25

With high quality soil
amendments
$6.50 – $7.95
With native soils
$2.50 – $5.25
$0
$78,000
($400,000 install &
$28,000 annual
maintenance)
For a 10 year life the figure
is $68,000;
for 15 years it is $54,666

$2.50 to $5.25 if done with
native soils
$3.50 to $5.25 if done with
combination of native soils
and sand.
$6.50 to $7.95 if done with
sand and drainage
$4,000 to $11,000 as per
the case studies provided
$0

Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations. While the cost figures in this document focus
on the southeast, the figures provide a sound comparative for the relative cost figures provided.
61
62

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surcharges for
environmentally controlled
products
Artificial turf made from rubber contains a number of hazardous substances. As a
result disposal is neither easy nor cheap. It is important to identify and consider the
cost of disposal when considering an investment in artificial turf. The life expectancy
of artificial turf generally ranges from 8 to 10 years63 – therefore disposal of artificial
turf should be amortized over this time frame.
Miscellaneous:
Artificial Turf is available for use immediately upon installation. Natural Turf generally
requires 2 growing seasons before it should be heavily used.64
One of the biggest supporting assertions for artificial turf is the increased level of
playing time it provides. While natural grass may not equal artificial turf in playing
time, natural soil and grass science has progressed significantly, greatly increasing its
durability for sports. Modern natural grass sports fields include sand in their soil
profile to resist compaction and a combination of grass varieties. Natural grass is
becoming the preferred surface for a number of professional sports teams.
Natural grass fields require regular maintenance including, mowing and watering, and
may also result in the use of fertilizers and potentially herbicides. But there are less
environmentally harmful alternatives available for maintenance including electric
mowing equipment and environmentally sensitive lawn care strategies that do not rely
on environmentally harmful chemicals. A number of schools, including Radnor
Township, Delaware County, PA, have successful policies that prevent the use of
dangerous chemicals on school grounds.
Artificial turf also requires regular maintenance. Artificial turf maintenance includes
sweeping, dragging and watering to provide a clean and uniform appearance.65 In
addition, as the result of wear, the infill may need periodic replenishment. 66
Management of an artificial turf field requires special knowledge inseam repair and
snow removal. 67 Special solvents and cleansers are needed to remove tough debris. 68
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
Communication with Nancy Bosold, Extension Educator, Turfgrass Management, Penn Stat
Cooperative Extension, Berks County, Aug 15, 2007.
65
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
66
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
67
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
63
64

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Artificial turf is at risk of damage from plastic bottles, cigarettes and/or gum as well
as general trash thrown on the field. When damaged special repairs may be needed.
Artificial turf also becomes a recipient of a variety of bodily fluids which cannot be
cleansed by natural action as is the case with natural grass. Maintenance can include
application of algaecides and fabric softener to mask the odor of the artificial turf. 69
Artificial turf systems that claim chemical treatment is not required do not seem to
provide a mechanism for handling the germs associated with the bodily fluids on the
turf when there is an absence of rain or when it is captured and reused in newly
emerging artificial turf cooling systems.
It is important to note that the environmental, health and safety impacts
of artificial turf are in need of further study by independent experts.
Until such time as there are conclusive findings regarding the
environmental, health and safety impacts of artificial turf the
Precautionary Principle would direct decisionmakers away from artificial
turf and towards the traditional use of natural grass for sports and public
play fields.

Updated: February 25, 2008
Dated: September 9, 2007

SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
69
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
68

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Artificial Turf Fact Sheet, 9/9/07

	
  
	
  
	
  
	
  
	
  
	
  
	
  
	
  
Artificial	
  Turf	
  Fact	
  Sheet	
  Temporary	
  Addendum.	
  
	
  
Chrysene,	
  a	
  PAH	
  and	
  carcinogen,	
  was	
  found	
  to	
  be	
  ingested	
  as	
  the	
  result	
  of	
  hand-­‐to-­‐surface-­‐to-­‐mouth	
  
transfer	
  from	
  playground	
  surfaces	
  made	
  with	
  recycled	
  tires.	
  	
  Assuming	
  playground	
  use	
  for	
  an	
  11	
  year	
  
period	
  (from	
  age	
  1	
  to	
  12)	
  there	
  was	
  found	
  to	
  be	
  an	
  increased	
  cancer	
  risk	
  of	
  2.9	
  in	
  one	
  million	
  	
  
(2.9	
  X	
  10-­‐6).	
  	
  This	
  risk	
  is	
  greater	
  than	
  the	
  general	
  cancer	
  risk	
  gauge	
  of	
  one	
  in	
  one	
  million	
  (1X10-­‐6).1	
  	
  This	
  
research	
  would	
  seem	
  to	
  suggest	
  that	
  repeat	
  exposure	
  over	
  time	
  to	
  the	
  chemicals	
  released	
  from	
  
artificial	
  turf	
  increases	
  the	
  associated	
  increase	
  in	
  cancer	
  risk.	
  
	
  
Only	
  31%	
  of	
  the	
  playground	
  surfaces	
  made	
  of	
  recycled	
  tires	
  tested	
  in	
  one	
  research	
  study	
  passed	
  the	
  
California	
  State	
  mandated	
  Head	
  Impact	
  Criterion	
  (HIC)	
  of	
  <1,000.	
  	
  In	
  this	
  same	
  study	
  100%	
  of	
  the	
  
playground	
  surfaces	
  made	
  of	
  wood	
  chips	
  passed	
  the	
  same	
  standard.	
  2	
  
	
  
When	
  talking	
  about	
  the	
  use	
  of	
  ground	
  rubber	
  as	
  a	
  supplement	
  to	
  planting	
  soils	
  the	
  North	
  Carolina	
  
Department	
  of	
  Agriculture	
  and	
  Consumer	
  Services	
  sent	
  out	
  a	
  notice	
  identifying	
  the	
  risk	
  that	
  zinc	
  
leaching	
  from	
  the	
  rubber	
  causes	
  a	
  decline	
  in	
  plant	
  growth	
  “directly	
  attributable	
  to	
  zinc	
  toxicity.”3	
  
	
  
A	
  Case	
  Study	
  conducted	
  by	
  a	
  group	
  of	
  “physicians	
  and	
  public	
  health	
  professionals	
  working	
  with	
  the	
  U.S.	
  
Environmental	
  Protection	
  Agency’s	
  Region	
  Pediatric	
  Environmental	
  Health	
  Specialty	
  Unit”	
  found	
  that	
  
they	
  could	
  not	
  secure	
  the	
  research	
  and	
  information	
  necessary	
  to	
  establish	
  the	
  safety	
  in	
  use	
  with	
  

Office of Environmental Health Hazard Assessment, Evaluation of Health Effects of Recycled Waste
Tires in Playground and Track Products, January 2007.	
  Note	
  -­‐-­‐	
  the	
  1.2	
  in	
  10	
  million	
  cancer	
  risk	
  found	
  in	
  the	
  
OEHHA	
  study	
  was	
  considered	
  by	
  the	
  authors	
  to	
  be	
  an	
  acceptable	
  level	
  of	
  risk	
  as	
  it	
  falls	
  below	
  the	
  general	
  cancer	
  risk	
  gauge	
  
-­‐6
of	
  one	
  in	
  one	
  million	
  (1X10 ).
2
Office of Environmental Health Hazard Assessment, Evaluation of Health Effects of Recycled Waste
Tires in Playground and Track Products, January 2007. Please note that in this study 32 recycled tire
playground surfaces were tested as compared to only 5 wood chip playground surfaces.
3
M. Ray Tucker, Agronomist, Ground Rubber: Potential Toxicity to Plants, Media Notes for North
Carolina Growers, North Carolina Dept of Agriculture & Consumer Services, April 1997.
1

children	
  of	
  tire	
  crumb	
  used	
  as	
  playground	
  surface.4	
  	
  “The	
  use	
  of	
  recycled	
  tire	
  crumb	
  products	
  on	
  
playgrounds	
  has	
  had	
  little	
  health	
  investigation.	
  	
  The	
  major	
  unresolved	
  concern	
  is	
  the	
  potential	
  for	
  latex	
  
allergy	
  with	
  short-­‐term	
  dermal	
  exposure.”	
  5	
  	
  “No	
  published	
  information	
  is	
  available	
  specifically	
  
regarding	
  exposure	
  to	
  crumb	
  rubber	
  constituents	
  from	
  use	
  of	
  the	
  product	
  on	
  playgrounds.”	
  6	
  
	
  
Analyses	
  conducted	
  at	
  the	
  Environmental	
  and	
  Occupational	
  Health	
  Sciences	
  Institute	
  of	
  Rutgers	
  
University	
  found	
  the	
  crumb	
  rubber	
  from	
  artificial	
  turf	
  to	
  contain	
  high	
  levels	
  of	
  PAHs,	
  as	
  well	
  as	
  zinc	
  and	
  
arsenic.7	
  	
  PAHs	
  found	
  to	
  be	
  contained	
  in	
  the	
  crumb	
  rubber	
  “were	
  above	
  the	
  concentration	
  levels	
  that	
  
the	
  New	
  York	
  State	
  Department	
  of	
  Environmental	
  Conservation	
  (DEC)	
  considers	
  sufficiently	
  hazardous	
  
to	
  public	
  health	
  to	
  require	
  their	
  removal	
  from	
  contaminated	
  soil	
  sites.	
  It	
  is	
  highly	
  likely	
  that	
  all	
  six	
  PAHs	
  
are	
  carcinogenic	
  to	
  humans.”	
  8	
  	
  	
  “The	
  analyses	
  also	
  revealed	
  levels	
  of	
  zinc	
  in	
  both	
  samples	
  that	
  exceed	
  
the	
  DEC's	
  tolerable	
  levels.”	
  9	
  	
  	
  The	
  researchers	
  associated	
  with	
  these	
  findings	
  were	
  careful	
  to	
  state	
  “We	
  
want	
  to	
  emphasize	
  that	
  the	
  findings	
  are	
  preliminary.	
  PAHs	
  in	
  rubber	
  might	
  not	
  act	
  the	
  same	
  way	
  as	
  in	
  
soil,	
  and	
  we	
  do	
  not	
  yet	
  have	
  information	
  on	
  the	
  ease	
  with	
  which	
  the	
  PAHs	
  in	
  these	
  rubber	
  particles	
  
might	
  be	
  absorbed	
  by	
  children	
  or	
  adults	
  -­‐-­‐	
  by	
  ingestion,	
  inhalation,	
  or	
  absorption	
  through	
  the	
  skin.	
  
However,	
  the	
  findings	
  are	
  worrisome.	
  Until	
  more	
  is	
  known,	
  it	
  wouldn't	
  be	
  prudent	
  to	
  install	
  the	
  
synthetic	
  turf	
  in	
  any	
  more	
  parks.”	
  10	
  
	
  

M.E. Anderson et al, A Case Study of tire Crumb Use on Playgrounds: Risk Analysis and
Communication When Major Clinical Knowledge Gaps Exist, Environmental Health Perspectives, Vol 114,
No. 1, January 2006.
5
M.E. Anderson et al, A Case Study of tire Crumb Use on Playgrounds: Risk Analysis and
Communication When Major Clinical Knowledge Gaps Exist, Environmental Health Perspectives, Vol 114,
No. 1, January 2006.
6
M.E. Anderson et al, A Case Study of tire Crumb Use on Playgrounds: Risk Analysis and
Communication When Major Clinical Knowledge Gaps Exist, Environmental Health Perspectives, Vol 114,
No. 1, January 2006.
7
Junfeng Zhang, professor and acting chair, Department of Environmental and Occupational Health,
the School of Public Health, the University of Medicine and Dentistry of New Jersey and Rutgers
University & William Crain, professor of psychology at The City College of New York, president of
Citizens for a Green Riverside Park, Hazardous Chemicals in Synthetic Turf, 2006, analyses conducted
at at the Environmental and Occupational Health Sciences Institute of Rutgers.
8
Junfeng Zhang, professor and acting chair, Department of Environmental and Occupational Health,
the School of Public Health, the University of Medicine and Dentistry of New Jersey and Rutgers
University & William Crain, professor of psychology at The City College of New York, president of
Citizens for a Green Riverside Park, Hazardous Chemicals in Synthetic Turf, 2006, analyses conducted
at at the Environmental and Occupational Health Sciences Institute of Rutgers.
9
Junfeng Zhang, professor and acting chair, Department of Environmental and Occupational Health,
the School of Public Health, the University of Medicine and Dentistry of New Jersey and Rutgers
University & William Crain, professor of psychology at The City College of New York, president of
Citizens for a Green Riverside Park, Hazardous Chemicals in Synthetic Turf, 2006, analyses conducted
at at the Environmental and Occupational Health Sciences Institute of Rutgers.
10
Junfeng Zhang, professor and acting chair, Department of Environmental and Occupational Health,
the School of Public Health, the University of Medicine and Dentistry of New Jersey and Rutgers
University & William Crain, professor of psychology at The City College of New York, president of
Citizens for a Green Riverside Park, Hazardous Chemicals in Synthetic Turf, 2006, analyses conducted
at at the Environmental and Occupational Health Sciences Institute of Rutgers.
4

Connecticut	
  is	
  currently	
  considering	
  legislation	
  to	
  provide	
  $250,000	
  of	
  funding	
  for	
  a	
  study	
  into	
  the	
  
toxicity	
  of	
  artificial	
  turf	
  athletic	
  fields.11	
  
	
  
One	
  Norwegian	
  assessment/presentationconcluded	
  that	
  while	
  indoor	
  artificial	
  turf	
  fields	
  were	
  not	
  
generally	
  an	
  elevated	
  health	
  risk,	
  studies	
  to	
  date	
  could	
  not	
  eliminate	
  the	
  concerns	
  associated	
  with	
  
development	
  of	
  airway	
  allergies	
  and	
  made	
  a	
  point	
  of	
  noting	
  “a	
  link	
  between	
  exposure	
  to	
  phthalates	
  
and	
  the	
  development	
  of	
  asthma/allergies”.	
  12	
  	
  Phthalates	
  is	
  one	
  of	
  the	
  contaminants	
  of	
  concern	
  found	
  
in	
  artificial	
  turf	
  crumb	
  rubber.	
  13	
  
	
  
The	
  Norwegian	
  assessment/presentation	
  also	
  reported	
  that	
  “recycled	
  rubber	
  was	
  the	
  major	
  source	
  of	
  
potentially	
  hazardous	
  substances.	
  	
  An	
  exposure	
  scenario	
  where	
  the	
  runoff	
  from	
  a	
  football	
  field	
  is	
  
drained	
  to	
  a	
  small	
  creek	
  showed	
  a	
  positive	
  risk	
  of	
  toxic	
  effects	
  on	
  biota	
  in	
  the	
  water	
  phase	
  and	
  in	
  the	
  
sediment.	
  	
  The	
  risk	
  was	
  mainly	
  attributed	
  to	
  zinc,	
  but	
  also	
  for	
  octylphenol	
  the	
  predicted	
  environmental	
  
concentrations	
  exceeded	
  the	
  no	
  environmental	
  effect	
  concentration.”	
  14	
  	
  	
  The	
  hazardous	
  leaching	
  could	
  
result	
  in	
  local	
  environmental	
  effect.15	
  	
  	
  
	
  
Of	
  interest	
  –	
  William	
  Carin,	
  OpEd,	
  NY	
  Times,	
  Turf	
  Wars,	
  September	
  16,	
  2007.	
  

An Act Concerning a Study of the Toxicity of Artificial Turf Athletic Fields, Raised Bill No. 361,
February Session 2008.
12
Dr. Christine Bjorge, Norwegian Institute of Public Health, Artificial turf Pitches – an assessment of
the health risks for football players and the environment, Presentation at the ISSS Technical meeting
2006, Dresden.
13
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
14
Dr. Christine Bjorge, Norwegian Institute of Public Health, Artificial turf Pitches – an assessment of
the health risks for football players and the environment, Presentation at the ISSS Technical meeting
2006, Dresden.
15
Dr. Christine Bjorge, Norwegian Institute of Public Health, Artificial turf Pitches – an assessment of
the health risks for football players and the environment, Presentation at the ISSS Technical meeting
2006, Dresden.
11

Page 1 of 2

PUBLIC SUBMISSION

As of: 5/3/16 6:20 PM
Received: May 02, 2016
Status: Posted
Posted: May 02, 2016
Tracking No. 1k0-8pe9-yfcg
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0047
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Nicholas Baker
Address: 91411
Email: [email protected]

General Comment
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill
Docket # ATSDR-2016-0002
Thank you. I appreciate the ability to comment. For more than a decade our government has
permitted tire waste, a material that is considered to be so toxic that it'
not allowed in landfills, to be shredded and placed on athletic fields, kids play areas, gardens,
driveways and other
recreational areas.
We know from numerous credible studies, that tires contain carbon black, benzene, arsenic,
mercury, hydrocarbons,
and heavy metals, that have been linked to cancer. We know when people are playing sports on
these fields, it's common
for these materials to be swallowed, caught in ears, nose, clothing, hair, under skin, and in floor
or seats of cars, showers,
tubs, etc.
Tire crumb and it's by products are harmful to our environment, water. soil, and our eco-system.
Anecdotal evidence of

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Page 2 of 2

hundreds of individuals who have played on fields using this material, who have died or
become seriously ill should be enough
to stop the use of these materials once and for all. If your studies will move this toxic material
out of areas where harm
can occur, then please let's move forward quickly. In the meantime, stopping any further fields
from using this material should
be mandated .
Sincerely,
Nicholas Baker

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Page 1 of 2

PUBLIC SUBMISSION

As of: 5/3/16 6:21 PM
Received: May 01, 2016
Status: Posted
Posted: May 02, 2016
Tracking No. 1k0-8pe0-l9e6
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0048
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Amy Ziff

General Comment
As the mother of three growing children I am concerned about the growing incidence of crumb
rubber and synthetic playing surfaces across this country. Increasingly, our children are exposed
to synthetic playing surfaces -- from playgrounds to gym class, recreational sports to the
sidelines. While we all desire to be more environmentally conscious, why are we using crushed
up, milled tires on plastic "grass" and calling it safe without any study? Why are we using
plastic surfaces over natural ones that we have evolved with over millennia, again without any
study?
My business is to study toxics, as the Founder of MADE SAFE, my organization looks at
products that are made without any known toxicants and puts a certification label on them.
Where there are questions we exercise the Precautionary Principle and wait for more science to
emerge. For the work we do, we rely on the use of available science. What I do know for sure is
that there is a tremendous amount of existing science to make those of us "in-the-know"
question the use of the synthetic plastic on these fields along with ground up tires.
The synthetic turd is highly likely to contain endocrine disruptors, as most flexible plastics do,
and they are prone to leach, especially when they get very hot as these fields do on warm days.
Does that matter? We don't know because it hasn't been studied. And those tires. The very same
tires that are considered "toxic waste" when you dispose of them through regular means are
then ground up for children and teens to play on. We know tires contain PAH's and heavy
metals along with other toxins commonly found on roads -- but have those effects on children

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Page 2 of 2

been studied? Not in this exact scenario.
So what we have are known toxic substances being used in a new way -- using our growing
children as guinea pigs -- and we are allowing this to happen all across America without first
conducting a proper study. When are we going to put children first? If anything is worthy of a
study by the EPA I can't think of anything more valuable than where our children will play.
I hope the EPA studies crumb rubber and artificial turf materials and once and for all
scientifically identifies it as the toxic substance it is and bans crumb rubber on turf fields
forever.
Thank you,
Amy Ziff
Founder and Executive Director,
MADE SAFE
www.madesafe.org

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Page 1 of 1

PUBLIC SUBMISSION

As of: 5/3/16 6:22 PM
Received: May 01, 2016
Status: Posted
Posted: May 02, 2016
Tracking No. 1k0-8pe0-9l1y
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0049
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Tanya Murphy

General Comment
As a concerned parent of two middle schoolers who play on turf day in and day out, please take
this away from their environment. Here is a List of Carcinogens and Other Dangerous
Chemicals in Tires
http://www.ehhi.org/turf/findings0815.shtml and here is a Health Based Consumer Guide:
http://media.wix.com/ugd/fd0a19_f5aa0824698341499b4228ebabf90cb5.pdf
Thanks,
Tanya Murphy

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Page 1 of 2

PUBLIC SUBMISSION

As of: 5/3/16 6:22 PM
Received: May 01, 2016
Status: Posted
Posted: May 02, 2016
Tracking No. 1k0-8pe0-7bqu
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0050
Comment on FR Doc # 2016-03305

Submitter Information
Name: Alexandra Bergstein
Address: 06831
Email: [email protected]
Organization: Greening Our Children

General Comment
I am an attorney and a mother of three children, living in CT. I have been shocked and
dismayed that crumb rubber has become a pervasive material used on fields and children's
playgrounds. My children play lacrosse and soccer on the many crumb rubber fields in our area.
We should all be concerned about the long-term effects of exposure to the carcinogens and
neurotoxins in this material. As parents, our choice is either bar our children from playing
organized sports, or let them play. . . and pray they don't get sick from it in 20 years. That is not
a choice parents should have to make.
I urge you to take a cautionary view of this material - which is made from industrial waste - and
ask "Why is it presumed to be safe?" Conducting the necessary studies to assess its safety will
take years, and in the meantime millions of children are exposed every day. Furthermore, the
methodology to quantify and monitor children's exposure from inhalation, ingestion, and
absorption doesn't even exist. Without the ability to biomonitor, the most scientists can do is try
to simulate exposure levels. Meanwhile, children routinely ingest crumb rubber as it flies onto
their faces, collects in mouth guards and remains as residue on their hands long after they've
played. The real subjects in this experiment are our children, and their exposure is significant
but unknown. During the years it will take for the scientific methodology to be developed and
the necessary studies conducted, children are ingesting and absorbing material we already know
contains high levels of harmful substances.

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Page 2 of 2

The responsible action would be to place a moratorium on the use of crumb rubber until it is
affirmatively proven to be safe.
Other turf infill options with far lower toxicity profiles now exist. Choosing safer materials and
forgoing crumb rubber is the only responsible choice. But until the federal government
acknowledges 1) the potential risk from crumb rubber and, 2) that current studies are not
measuring all routes of exposure, the public remains under the false impression that crumb
rubber is safe. Just because it's ubiquitous does not mean it is safe.
Let's encourage schools and communities to use safer infill options - made without synthetic
rubber or styrene - to minimize potential risks. The old adage is still so true: Better Safe than
Sorry.

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Page 1 of 2

PUBLIC SUBMISSION

As of: 5/3/16 6:23 PM
Received: May 01, 2016
Status: Posted
Posted: May 02, 2016
Tracking No. 1k0-8pdy-gu1b
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0051
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Rhonda Sherwood
Address: 06820
Email: [email protected]

General Comment
As the mother of two college aged boys and a founding board member of the Mount Sinai
Children's Environmental Heath Center in New York, I am deeply concerned about the fact that
children who play soccer, football, lacrosse, and baseball must, on a daily basis, practice and
play on turf fields that contain crumb rubber. Why is it illegal for me to dispose of automobile
tires in my local dump (due to the toxic runoff from rain falling on the tires), yet the same tires
can be ground up and sprinkled on my children's sports fields? Every day our children are
playing on fields that contain carcinogens and I fear these young athletes will grow up and find
their cancer incidence to be higher than their non turf playing predecessors.
When my sons were in middle and high school, I saw:
- baseball players slide into home base and create a spray of crumb rubber that covered other
players' faces
- football players get crumb rubber on their mouth guards that they subsequently put into their
mouths
- kids sitting on the sidelines of a lacrosse field sifting crumb rubber in their hands like it was
sand
Through inhalation, dermal exposure and ingestion, our children are being exposed to
carcinogens. If this were a work site/OSHA situation, I'm sure the government would ban

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Page 2 of 2

crumb rubber immediately. Why don't our children deserve the same safety consideration? I
hope the EPA studies crumb rubber and once and for all scientifically identifies it as the toxic
substance it is and bans crumb rubber on turf fields forever.
Thanks for listening,
Rhonda Sherwood
Founding Vice Chairman
Mount Sinai Children's Environmental Health Center
New York, New York

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Page 1 of 2

PUBLIC SUBMISSION

As of: 5/3/16 6:24 PM
Received: May 01, 2016
Status: Posted
Posted: May 02, 2016
Tracking No. 1k0-8pdw-u7hh
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0052
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Steven Gilbert
Address: 98105
Email: [email protected]

General Comment
My very you young 3-4 year old granddaughters plays soccer or at least kicks the ball around How do you intend ti keep her from eating the crumb rubber ? She is very curious about thus
black stuff and naturally wants to taste it.
also a few other questions
Why is the CPSC not already testing and regulating this material as a children's product given
the pervasive and targeted use for children's play areas? (See recent reports from Duluth MN on
tire crumb playgrounds as examples of what is going on all over).
Will the study be looking at combinations of personal exposures low to the surface directly with
tire crumb on under active use?
Why are they not studying child exposure on tire crumb playgrounds? Why are they leaving it
to the CPSC to (maybe) do?
How will the study, as planned, help answer the question, "Are synthetic turf fields and
playgrounds with crumb rubber infill safe for children of all ages to play on?"
What are the plan and the timeline for gathering all of the data to answer the above safety
question to a reasonable degree of certainty?
How do the agencies plan to obtain toxicity data that would be needed for a components based
health risk assessment model?

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Do they plan on conducting toxicity testing for all the components for which toxicity data is
currently missing? Where will they get the data for interaction effects? Do the agencies plan on
testing the toxicity of crumb rubber as a whole?
Why isn't an epidemiological study the first priority? Are there plans for one? If so, when will it
be done?
What about the effects of small rubber particles on the eco-system? Are there plans to study the
effects of run-off on marine life?
why not use the precautionary principle - test before it is used with kids ?

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Page 1 of 2

PUBLIC SUBMISSION

As of: 5/3/16 6:25 PM
Received: May 01, 2016
Status: Posted
Posted: May 02, 2016
Tracking No. 1k0-8pdu-983b
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0054
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Cliff Sanderlin
Address: 98020
Email: [email protected]

General Comment
CLIFF SANDERLIN
Edmonds, WA 98020
I have worked with and for scientists including doctors and cancer researchers in Seattle for
over the past 30 years, beginning with the American Lung Association and including the Fred
Hutchinson Cancer Research Center. The information assembled thus far suggests that we
should err on the side of caution.
While it may or may not be hazardous to rub against solid tires, the grinding of tires into fine
particles dramatically increases the means of absorption into the human body. The particles
become finer after breakdown into dust due to UV rays. As with asbestos, there is no known
safe exposure to many of the ingredients of crumb rubber and its use should be banned
nationwide. Otherwise, we will be using our children and grandchildren as cancer research
subjects, guinea pigs for short.
From an economic standpoint, the stakes are high. First, the healthcare costs and lost
productivity of people felled by diseases. Secondly, the cost to taxpayers to clean up the
thousands of facilities across the nation will be staggering.

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Please err on the side of common sense and caution. Thank you! -- Cliff

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PUBLIC SUBMISSION

As of: 5/3/16 6:26 PM
Received: May 01, 2016
Status: Posted
Posted: May 02, 2016
Tracking No. 1k0-8pdh-ydk3
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0056
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Anonymous Anonymous

General Comment
I am happy to hear that more comprehensive studies are under way on crumb rubber and its
exposures, however I am deeply troubled with hearing it is going in at my child's elementary
school this year and all of his succeeding schools for the rest of his public education at San
Diego Unified School District. I substitute taught at an elementary school with a new crumb
rubber field and the children were rolling in these fields, eating their snacks and dropping their
water bottles on the field, and I even saw some of them making mountains out of the tire pellets.
It was in their hair, around their mouth, on their hands, and quite possibly on their water bottles
and snacks that were dropped on the artificial turf. It didn't look right at all and it's not right.
Our kids aren't possibly going to be ingesting this stuff or getting it in their eyes or an open
wound, they are RIGHT NOW! And NOBODY can tell us that it's safe!
I hope these studies will look extensively into ingestion and dermal contact with young
children, ages 1-10, with years of exposure to crumb rubber, but I wonder....how can that be
done in a 1-2 year study? I know that science can take decades to prove a chemical is unhealthy
or even deadly. How many decades did it take to prove cigarettes and asbestos were dangerous?
How many decades will it take to prove the same of crumb rubber? All while our children are
the canaries in the coal mine. I hope all schools and communities can put a ban on crumb rubber
until these studies are complete. Inform parents of those kids that are playing on this kind of turf
and that proper cleaning after playing on them and the restriction of food and drinks needs to be
posted and made aware to the parents/children/athletes. There are safer, non-toxic alternative
infills out there; new and improved products to look at. Crumb rubber is old,outdated and was a
bad idea to begin with. Let's stay with natural turf or keep the dirt, it's better for our

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environment as well. Our children and our Mother Earth deserve better!
I will look forward to what the studies will find.

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Page 1 of 1

As of: 5/3/16 6:29 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8pef-myiu
Comments Due: May 02, 2016
Submission Type: Web

PUBLIC SUBMISSION
Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002

Document: ATSDR-2016-0002-0060
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on FR Doc # 2016-03305

Submitter Information
Name: Jennifer Lindsay
Address: M5V1Y1
Email: [email protected]

General Comment
Good afternoon,
My name is Jennifer Lindsay. On behalf of the Toronto based environmental agency No Toxic Turf, and I have compiled a list of
75 letters sent through the NoToxicTurf.ca website to Toronto politicians, school board members, and Toronto Public Health
concerning pulverized tire crumb infill on playing fields. Please let the collection of letters attached as well as the link below
contribute towards Federal Research on the usage of pulverized tire crumb infill on playing fields. Do not hesitate to contact me
should have any questions or require additional information.
http://www1.toronto.ca/wps/portal/contentonly?
vgnextoid=c17a9de418b6c410VgnVCM10000071d60f89RCRD&vgnextchannel=d06e23bf6d481410VgnVCM10000071d60f89RCRD
Kind regards,
Jennifer

Attachments
Letters 30 04 2016

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1. April	26,	2016	
This	is	a	letter	written	to	express	my	outrage	and	concern	about	the	lack	of	concern	of	potential	health	
risks	to	students	and	others	
Janice	Greene	

2. March	29,	2016		
Answers	are	wanted	concerning	the	rejection	of	the	TDSB	from	the	community	to	pay	for	a	natural	
solution	rather	than	the	cancerous	tire	rubber	field	at	Central	Technical	School.	This	is	our	community	
and	are	demanding	a	natural	solution	to	the	point	that	private	funding	is	offered.	We	don't	want	to	wait	
another	few	years,	or	decade	for	it	to	become	common	knowledge	that	these	artificial	turfs	are	harming	
our	children.	We	want	to	take	preventive	action	now	and	we	are	not	allowed?	Even	if	we	fund	it?	I	am	
truly	disgusted	by	TDSB's	decision	and	am	interested	in	knowing	if	there	is	a	corrupt	reason	why.	We	
demand	answers	and	will	get	them.	
Devra	Wigdor	

3. March	29,	2016	
To	Whom	It	May	Concern:		
I	understand	the	TDSB	has	rejected	an	offer	for	natural	cork	instead	of	tire	crumb	infill	at	Central	
Technical	School.		
I	am	appalled	by	this	decision	and	fail	to	understand	why	the	TDSB	would	reject	a	safer,	healthier	option	
for	its	students.	Physicians,	scientists,	and	health	experts	have	confirmed	that	artificial	turf	with	crumb	
tire	infill	pose	significant	health	hazards	and	safety	risks	for	those	who	use	it/	play	on	it	/	inhale	it.	Why	
is	the	TDSB	putting	our	children	at	risk?	Any	cost	concerns	the	TDSB	may	have	had	were	eliminated	
given	that	safer	options	were	offered	to	TDSB	free	of	charge.	As	a	public	entity,	TDSB	owes	the	tax	
payers	a	reasonable	explanation.	
	
Failure	to	respond	or	address	this	issue	will	only	attract	public	scrutiny,	result	in	further	media	attention	
and	cause	public	outcry.		
	
Sincerely,	
	
Miriam	Anbar	(concerned	neighbour	of	Central	Tech)	
	
CC:	Toronto	Life,	Toronto	Star,	Globe	&	Mail,	National	Post,	Now	Magazine	
	
	

4. March	15,	2016	
Please	read	this	Huffington	Post	article	entitled	Take	Action	Against	Toxic	Turf:	
http://m.huffpost.com/ca/entry/9417920.	The	article	contents	also	included	below:	
If	you	aren't	outraged,	then	you	just	aren't	paying	attention.		

	

It's	true.	
	
The	introduction	and	popularity	of	artificial,	toxic	turf	in	playing	fields	and	playgrounds	throughout	
Toronto	(and	well	beyond),	is	shocking,	terrifying,	and	absolutely	something	we	should	ALL	be	outraged	
about	--	and	taking	action	on,	now.	
	
THE	GENERAL	ISSUE	
	
Despite	the	known	and	documented	health	and	environmental	hazards	of	the	artificial	turf	(including	
dangerous	levels	of	lead!),	many	of	our	local	schools	have	already	switched,	and	are	continuing	to	
switch	from	real	fields	to	toxic	turf.	
	
In	addition	to	benzene	and	lead,	the	list	of	toxins	that	have	been	discovered	on	artificial		turf	fields	
includes	mercury,	polycyclic	aromatic	hydrocarbons,	heavy	metals,	arsenic,	and	other	carcinogenic	
compounds.	-Jared	Firestone,	The	Expert	Institute	
	
Grass	(remember	grass?)	acts	as	a	natural	filter	and	requires	comparatively	less	water.	It	absorbs	carbon	
dioxide	and	releases	oxygen	in	its	place.	For	every	natural	green	space		 the	turf	replaces,	we	are	losing	
important	outdoor	spaces	that	contribute	to	the	physical	and	emotional	health	of	the	communities	who	
use	our	fields.	
	
I	started	my	journey	in	the	quest	for	strong	laws	on	toxic	chemicals	because	quite	simply	I	am	a	mother	
and	I	am	tired	of	feeling	like	I	have	to	have	a	PhD	in	toxicology	in	order	to	be	a	competent	parent."	
~Jennifer	Beals	
	
PROS	AND	CONS	OF	ARTIFICIAL	TURF	
	
What	are	the	benefits	of	installing	petrochemical,	artificial	turf?	Our	schools	will	have		 year-round	
playing	time.	
	
By	contrast,	the	list	of	cons	is	enormous:	
	
-	Our	kids	inhale	the	toxins,	carcinogens,	and	hormone	disruptors	released	from	the	turf's	crumb	rubber	
infill	(made	from	old	tires).	

-	The	turf	is	conducive	to	dangerously	high	heat	levels	in	warm	weather.	
	
-	There	is	an	increased	risk	of	injuries,	abrasions,	and	antibiotic-resistant	staph	infections.	
	
-	The	petrochemical	turf	pollutes	our	water	and	threatens	nearby	plants	and	wildlife.	
	
-	Large	amounts	of	water	and	chemicals	are	required	for	cleaning	artificial	turf.	
	
-	The	field	must	be	replaced	every	7-10	years	(which	is	expensive	and	difficult).	And,	where	do	you	think	
the	toxic	material	goes	when	disposed	of?	
	
-	The	tiny	granules	of	crumb	rubber	stick	to	skin,	clothing,	and	shoes,	and	get	tracked	into	schools,	
homes,	and	cars.	By	the	way,	this	crumb	rubber	is	frighteningly	problematic:	
	
This	crumb	rubber	is	a	material	that	cannot	be	legally	disposed	of	in	landfills	or	ocean-dumped	because	
of	its	toxicity.	Why	on	earth	should	we	let	our	children	play	on	it?	~Patti	Wood,	Executive	Director	of	
Grassroots	Environmental	Education	
	
Coach	Amy	Griffin	began	cataloging	the	names	of	every	soccer	player	diagnosed	with	cancer	that	she	
could	find,	a	list	that	nearly	doubled	within	a	year	from	34	to	64	total	patients.	-	David	Wolfe	
READ	+	WATCH	
	
The	Yale	School	of	Engineering	and	Applied	Science:	Study	Led	By	Gaboury	Benoit	Looks	At	Chemicals	In	
Synthetic	Playing	Surfaces	
	
The	Globe	and	Mail:	Proposed	Sports	Field	at	Toronto	School	Raises	Debate	Over	Rubber	Turf	
	
The	New	York	Times:	On	Artificial	Turf	Issue,	U.S.	Women	Dig	In	at	Last	
	
WHAT	TO	DO	NOW	
	
Visit	NoToxicTurf.ca	for	resources	on	how	to	take	action,	including	templates	for	writing	letters	to	the	
Toronto	District	School	Board,	Toronto	Public	Health,	Politicians,	and	Reporters.	
	
The	Safe	Healthy	Playing	Fields	Coalition	also	has	a	number	of	ongoing	initiatives	empowering	people	
like	you	to	make	a	difference	locally	and	politically.	
	
It's	urgent	that	we	prevent	toxic	turf	from	replacing	our	healthy,	safe,	and	real	fields,	wherever	possible.	
Let's	turn	our	outrage	into	meaningful	action,	together.	

5. March	14	2016		

In	August	2014,	I	wrote	to	you	expressing	my	concerns	about	the	Toronto	Board	of	Education's	
installation	of	artificial	turf	in	their	schoolyards.	My	opinion	has	not	changed.	Artificial	turf	has	
none	of	the	virtues	of	natural	grass.	Grass	is	eco-friendly,	artificial	turf	is	not.	It's	not	too	late	to	
stop	installing	manmade	products.	Please,	decide	now	to	use	only	nature's	materials	in	our	
schoolyards.	For	that	matter,	all	our	city's	public	spaces	deserve	the	same	consideration.	Rogers	
Centre	has	already	replaced	its	infield	with	natural	dirt.	The	owners	are	hoping	to	replace	the	
artificial	turf	with	the	real	thing	by	the	start	of	the	2017	season.	The	players	want	it	and	so	do	
the	fans!	
Thank	you,	
Judy	Trites	
Ward	23	constituent	
6. March	6,	2016	
To	whom	it	may	concern,	
Biking	on	my	way	to	work	on	beautiful	Harbord	St.	in	downtown	Toronto,	i	pass	by	two	once	
beautiful	verdant	fields	that	are	now,	sadly,	tragically	and	pathetically,	only	memories,	having	
since	been	replaced	by	toxic,	artificial	turf.	A	strong	opposition	at	the	University	of	Toronto	was	
basically	ignored	and	overrun	by	financial	concerns	to	the	detriment	of	athletes'	health	and	
well-being	and	the	same	is	being	ignorantly	repeated	at	the	corner	of	Harbord	and	Bathurst.	
This	field	outside	the	Harbord	Collegiate	appreciated	by	the	students	and	teachers,	but	also	the	
community,	who	used	the	beautiful	running	track	and	field	for	extra-curricular	activities	and	
exercise	is	now	a	shambles,	dirty	construction	site	where	artificial	turf	will	go	and	an	ugly	dome	
will	cover	it	so	that	people	can	rent	it	out	in	winter.		
What	a	shame	that	corporate	interests	are	winning	and	our	planet	and	people	are	losing.	Don't	
students	and	teachers	deserve	to	be	healthy?	Toxic	turf	is	not	only	an	environmental	hazard	
but	an	environmental	pollutant.	Humans	suffer,	the	planet	suffers	and	"money",	as	the	old	
saying	goes,	"is	not	edible	when	we	run	out	of	clean	air,	earth	and	water".	Let's	not	forget	that	
and	strongly	oppose	the	next	toxic	turf	project	together.	
With	thanks,	
Maya	Goldenberg	
A	concerned	citizen	of	this	fine	city	
	
7. January	25,	2016	

To	whom	it	may	concern,	
I	am	very	upset	by	the	trend	to	replace	natural,	functional	grass	with	artificial	turf.	We	need	
more	nature	in	the	city,	not	less.	The	idea	of	suffocating	the	limited	green	space	we	have	breaks	
my	heart	and	makes	for	an	unhealthy	city.	
For	those	of	you	who	don't	know,	tire	infill	artificial	turf	negatively	impacts	the	community	and	
the	environment	in	too	many	ways.	For	example:		
	
Loss	of	public	access	to	green	spaces	
Leaching	carcinogens	and	toxins	into	our	water	systems	
Inhalation	and	ingestion	of	toxins,	carcinogens,	and	hormone	disrupting	chemicals	released	
from	crumb	rubber	infill	
Higher	risk	of	injury	for	athletes	
Temperatures	on	artificial	turf	fields	can	reach	dangerously	high	levels	
Tiny	granules	of	crumb	rubber	stick	to	athletes’	skin,	clothing	and	shoes	and	are	tracked	into	
our	streets	and	homes	
Increased	risk	of	Staph	Infections	from	cuts,	scrapes,	and	“turf	burn”	
Children	and	adolescents	are	especially	vulnerable	to	the	health	hazards	of	artificial	turf;	even	
more	so	in	domed	spaces	
Artificial	turf	is	highly	flammable	
	
For	the	sake	of	our	urban	environment	and	the	health	of	the	city's	human	and	non-human	
residents,	please	SAY	NO	TO	TOXIC	TURF!	
Sabrina	Malach	
8. January	24,	2016			
Are	you	aware	of	the	2015	Yale	University	Study	that	found	carcinogens	in	the	chemicals	
released	by	artificial	turf?	Is	this	acceptable	for	our	children	to	play	on	and	inhale?		
Sincerely,		
Lanny	Shereck	
9. January	19,	2016	
No	toxic	turf	please...	keep	it	away	from	children's	playgrounds	in	Toronto.	
Melissa	Leithwood	
	

10. December	5,	2015	
Dear	Parents,	Family	and	Friends	of	the	Toronto	District	School	Board,	
	
Happy	Spring!	As	we	welcome	the	warmer	weather,	our	physically	activity	on	the	up.	Especially	
within	the	lush	green	spaces	Toronto	offers.	
	
Are	your	children,	family	and	friends	engaging	in	curricular	or	extra-curricular	activities	on	
Artificial	Turf?	Is	your	children's	school	on	the	wait-list	for	Artificial	Turf	installation?	If	so,	
please	note	the	important	health	and	safety	tips	published	by	Toronto	Public	Health	this	year.	
	
Health	Impact	Assessment	of	the	Use	of	Artificial	Turf	in	Toronto,	April	2015	
(page	12):	
	
a)	Consider	the	installation	of	artificial	turf	only	in	situations	where	the	conditions	on	the	site	
and	the	high	use	of	the	space	would	prevent	the	maintenance	of	a	healthy	natural	turf.	
	
b)	Future	proposals	to	install	artificial	turf	include	mitigation	strategies	that	specifically	address	
health	concerns	relating	to:	
i.	lack	of	availability	of	accessible	green	space,	opportunities	to	increase	vegetation	in	the	
surrounding	neighbourhood	and	factors	related	to	biodiversity	and	ecosystem	health;	
ii.	Creation	of	urban	heat	islands;	
iii.	Water	capture,	drainage,	maintenance	and	sanitation.	
	
c)	Prevent	heat-related	health	impacts	by	providing	shade	and	drinking	water,	and	prohibit	the	
use	of	the	field	when	artificial	turf	surfaces	become	very	hot	such	as	during	heat	alert	and	
extreme	heat	alert	days.	
	
d)	Ensure	proper	ventilation	in	indoor	artificial	turf	facilities.	
	
e)	Post	messages	on	outdoor	artificial	fields	to	remind	users	of	the	potential	for	heat-	related	
injuries	on	hot	days	and	of	the	use	of	good	hygienic	practices,	including:	
i.	Washing	hands	after	playing	on	artificial	turf;	
ii.	Supervision	of	small	children	to	ensure	they	do	not	eat	the	infill	material;	
iii.	Avoiding	eating	on	the	artificial	turf;	
iv.	Avoiding	tracking	infill	material	into	the	school	or	home	(shake	visible	rubber	pellets	off,	or	
providing	shoe/equipment	cleaning	areas	before	exiting	the	field;	
v.	Protecting	exposed	skin	from	direct	contact	with	the	turf	during	hot	weather	events;	
vi.	Cleaning	and	disinfecting	affected	areas	and	covering	abrasions	as	soon	as	possible.	

	
f)	Use	alternative	infill	materials	that	have	fewer	contaminants	and/or	less	solar	absorption	on	
new	installations,	rather	than	crumb	rubber	infill	made	from	recycled	tires,	whenever	possible.	
	
g)	Adopt	protocols	for	selecting	and	purchasing	artificial	turf	systems	that	address	concerns	
regarding	chemical	content,	heat	absorption,	and	other	environmental	and	health	and	safety	
factors;	
	
h)	Ensure	that	maintenance	protocols	are	followed	and	procedure	in	place	to	inspect,	test,	and	
replace	any	existing	synthetic	turf	as	it	ages	or	deteriorates.	
	
If	you	are	looking	for	more	information	on	the	expense,	health	hazards	and	safe	playing	
practices	on	Artificial	Turf,	please	respond	directly	to	this	email,	visit	www.notoxicturf.ca	or	
follow	us	on	twitter	@NoToxicTurf	
	
Have	a	great	Spring	and	Summer!	
The	No	Toxic	Turf	Team	
11. April	9,	2015	
I	am	a	physician	and	I	live	in	the	neighbourhood	of	the	proposes	artificial	turf	and	track.	
In	the	press	covering	the	"resolution"	of	this	project	I	was	surprised	to	see	that	the	potential	
health	risks	of	artificial	turf	was	not	mentioned	or	adressed.	
I	have	learned	from	my	good	friend	Rochelle	Rubinstein	that	there	are	considerable	health	risks	
and	this	should	be	carefully	evaluated	before	initiating	this	project.	
And	these	health	concerns	need	to	be	adressed	BEFORE	proceeding.	
	
Dr.	Tony	Cohn	MBChB,	MSc,	FRCPC	
12. March	30,	2015	
To	whom	this	may	concern:	
	
The	issue	of	privatization	with	the	potential	to	generate	money	for	non-school	based	uses	often	
trumps	community	use	and	health	concerns.	
	
So	given	that	you	will	have	plastic	fields	now-	tire	crumb	is	the	most	hazardous	infill	from	a	
health	perspective	ESPECIALLY	in	a	domed	/	indoor	field.	It	is	a	waste	product	not	meant	for	
human	use	and	just	about	every	individual	ingredient	we	know	of	in	tires	is	hazardous	to	
humans	and	the	environment..	The	recent	cancer	clusters	in	soccer	players	with	a	high	

preponderance	of	soccer	goalies	,	who	are	the	most	constantly	and	intimately	in	contact	with	
the	tire	crumb,	is	troubling	and	should	at	least	raise	red	flags.	Precaution	with	use	of	an	
alternative	infill	is	definitely	recommended.	And	since	the	exact	recipes	for	tire	production	is	
proprietary	there	are	unknown	ingredients	that	could	be	toxic	as	well.	Since	no	one	knows	what	
is	present	it	is	impossible	to	test	for	them.	Carbon	nanotubes	used	by	some	tire	companies	are	
an	example	with	the	potential	for	high	toxicity	at	extremely	small	amounts.	
	
The	preferable	alternative	would	probably	be	a	plant	based	infill	such	as	the	cork-coconut	husk	
infills	.	Expanded	polypropylene	would	also	be	better	than	tire	crumb	since	it	has	a	simpler	
recipe	that	is	knowable.	One	f	the	problems	is	it	typically	gets	into	the	ecosystem	and	is	
ingested	by	animals	(the	pellets	look	just	like	fish	eggs)	contributing	to	the	burden	of	plastic	
waste	in	the	food	chain.	So	care	should	be	taken	to	ensure	none	of	it	leaves	in	field	care	or	with	
the	athletes	.		
	
For	the	plastic	carpet	itself:	There	are	a	couple	of	other	suggestions-	Demand	INDEPENDENT	
testing	to	ensure	the	plastic	carpet	and	plastic	blades	are	lead	and	Cadmium	free.	Be	sure	to	
ask	for	and	send	samples	of	ALL	COLORS	of	the	plastic	blades	off	for	analysis.	A	huge	variability	
has	been	found	in	lead	content	even	in	supposedly	lead	free	carpets.	It	is	important	to	
emphasize	that	the	public	health	consensus	is	THERE	IS	NO	SAFE	LEVEL	OF	LEAD	especially	for	
children.	The	field	components	should	contain	no	lead.	Period.	
	
The	dust	from	abrasion	and	breakdown	of	the	plastic	and	infill	will	be	breathed	in	and	ingested	
over	time.	The	key	is	to	ensure	the	content	of	the	original	field	is	as	low	toxin	as	possible.	
	
Finally	find	out	how	do	they	propose	to	"clean"	the	fields	inside?	since	sweat	,	blood,	vomit	etc	
are	almost	impossible	to	clean	up	on	these	carpets	and	could	contribute	to	high	bacterial	levels.	
Antimicrobial	treatments	have	their	own	health	hazards	unfortunately.	
	
Best	regards	
Kathy	Michels	
13. March	16,	2015		
I	am	writing	to	protest	the	privatization	of	the	Central	Tech	playing	field	and	the	use	of	artificial	
turf	at	Central	Tech	and	public	schools	alike.	Tire	waste	synthetic	turf	is	dangerous	and	should	
be	banned	in	Toronto	schools	in	order	to	protect	the	health	of	our	students,	communities	and	
environment.	Not	only	will	the	privatization	of	Central	Tech's	playing	field	deny	access	to	green	
space	for	the	public,	it	will	infect	our	environment	with	toxins	and	carcinogens	that	young	
players	will	breathe	in	on	a	daily	basis.	Why,	if	banned	in	most	of	US	and	Europe,	is	there	no	

media	coverage	on	artificial	turf's	health	hazards	in	Toronto?	Being	in	the	position	that	you	are	
in,	do	you	not	have	a	responsibility	to	address	this	concern?	Please	speak	up	on	behalf	of	the	
PUBLIC	and	help	to	preserve	our	public	access	to	green	space	and	keep	the	PUBLIC	healthy	and	
safe.	
Miriam	Anbar	
14. March	15,	2015			
Dear	Friends,	
As	a	downtown	resdent	and	a	former	public	school	teacher	I	am	concerned	about	the	
environmental	issues	involved	in	the	artificial	turf	plans	of	the	TDSB.	I	urge	you	to	consider	the	
heath	of	our	students.	
Charles	Heller	
15. March	15,	2015	
To	whom	it	may	concern,	
	
You	are	responsible	for	the	health	of	the	next	generation	and	you	are	turning	your	backs	on	
them.	Our	children	deserve	to	play	on	real	grass	just	like	we	did	and	I	am	appalled	at	how	
careless	the	government	is	being	with	the	health	of	our	children.	The	money	you	are	saving	will	
end	up	costing	the	next	generation	when	they	have	lawsuits	from	sick	children.	
Robert	Daoud	
16. March	11,	2015	
To	whom	it	may	concern:	
	
I'm	very	disturbed	to	hear	the	news	about	Central	Tech	schools	moving	forward	with	the	
artificial	turf	field.	Our	students	will	suffer	health	consequences	of	playing	on	a	toxic	surface	
and	this	should	be	unacceptable	to	all	of	you.	
Samara	Wigdor	Daoud	
	
	
17. March	9,	2015	

Toronto	prides	itself	in	being	the	greenest	city	on	earth.	That	is	laughable	when	the	city	is	
allowing	poisonous	materials	to	replace	grass	in	our	playgrounds.	Stop	the	poison!	
Devora	Tenenbaum	
18. March	8,	2015	
I	am	very	saddened	to	hear	the	news	about	central	tech	moving	forward	with	the	artificial	turf	
field.	It	is	inconceivable	that	the	school	board	wont	even	consider	the	health	consequences	of	
their	students	and	others	using	the	field.	it	is	irresponsible	and	a	huge	mistake.	I	certainly	wont	
be	sending	my	kids	to	play	there.		
	
Jesse	Kaplan	
19. March	8,	2015		
This	decision	is	highly	short-sighted	and	clearly	places	greater	importance	on	saving	a	few	
dollars	than	saving	our	community	from	unnecessary	chemicals	and	health	risks.	I	urge	you	to	
use	a	natural	solution	for	the	field;	grass	is	beautiful	soft	and	helps	foster	an	incredibly	
important	ecosystems	for	an	array	of	insects,	birds,	rodents	etc.		
An	old	saying	goes	"If	there's	grass	on	the	field	,	play	ball!"	
TURF	THE	TURF!		
	
Save	central	tech	field!	
shimon	berman	
20. March	8,	2015		
I'm	writing	this	email	to	plead	with	you	to	reconsider	the	decision	to	allow	the	use	of	artificial	
turf	in	our	schools	and	to	expose	our	communities	to	a	material	proven	to	be	toxic	and	
detrimental	to	both	the	environment	and	our	health.	In	a	region	of	the	world	blessed	with	
magnificent	and	abundant	nature	and	a	delicate	ecosystem	that	continues	to	be	threatened	
and	reconstructed	to	adapt	to	our	wants,	it	is	unconscionable	that	we	would	resort	to	the	use	
of	such	a	toxic	material	so	that	yet	another	corporation	can	turn	a	profit	at	the	expense	of	our	
environment	and	our	health.	As	we	continue	to	wake	up	to	face	the	consequences	of	decades	
of	neglect	and	harm	to	our	ecosystem	and	at	a	time	when	we	have	collectively	come	together	
to	attempt	to	reverse	this	damage,	this	decision	is	a	step	in	the	wrong	direction	and	one	that	
will	burden	the	future	generations	of	this	great	city.		
I	again	strongly	plead	with	you	all	to	reconsider	this	decision	and	to	continue	to	preserve	this	
city's	great	tradition	of	respect	for	the	environment	and	world	renowned	progressive	policies.	

Omar	Sabbagh	
21. March	8,	2015	
I	am	extremely	concerned	about	my	children	playing	on	a	toxic	turf	field	throughout	their	
school	years.	This	should	not	be	allowed.	I	want	my	children	to	play	on	real	grass	under	a	real	
sky	not	on	fake,	hazardous	turf	beneath	a	oppressive	dome.	This	is	dangerous	for	everyone	
involved	and	a	serious	neglectful	and	harmful	decision	to	force	upon	our	children.	
Leaka	
[email protected]	
22. March	8,	2015	
To	all	those	responsible	for	public	health	
	
We	are	devastated	by	the	news	that	astro-	turf	will	be	laid	in	the	central	tech	field		
This	comes	the	day	the	same	news	of	compensation	given	to	the	Thalidomide	victims		
Perhaps	in	20	yrs	the	same	will	happen	because	of	astro-	turf	-	its	proven	risk	to	cause	cancer	
will	only	be	known	in	years	to	come	and	for	what	purpose?	How	backwards	to	replace	beautiful	
natural	grass	with	fake		
You	will	be	mocked	in	history	and	soon	this	kind	of	action	will	be	outlawed-	what	side	of	history	
do	you	want	to	be	on	
Can	you	imagine	Central	park	in	NYC	of	Jardin	des	Tuilleries	replacing	grass	with	Astro-turf?	
Why	are	you	doing	this	to	our	park?	
My	son	will	not	get	to	run	on	a	beautiful	field	of	grass	by	his	grandmothers	home	thanks	to	you	
I	know	you	will	be	on	the	wrong	side	of	history-	I	know	you	will	have	a	class	action	law	suit	in	
the	future	
Please	reconsider	your	actions	and	take	a	natural	approach	and	save	our	grass	
I	cant	believe	we	have	come	to	a	day	and	age	where	one	has	to	stand	up	to	protect	the	grass	on	
the	ground	-	I	cant	believe	plastic	is	now	a	replacement	for	beautiful	grass	
Don’t	you	remember	the	smell	of	freshly	cut	grass	?	Why	are	you	taking	that	away	from	our	
kids?	
	
Please	reconsider	and	replace	the	astro-	turf	with	natural	grass	!	

Thank	you	
Very	sad	and	disappointed	mother		
Devra	Kaplan	
23. March	3,	2015			
I	strongly	oppose	the	use	of	artificial	turf.	Natural	fields	and	grounds	should	be	preserved.	A	
report	from	the	school	board’s	consultant	has	stipulated	that	applying	6-8	inches	of	topsoil	and	
a	layer	of	new	sod	would	remedy	the	current	contamination	problem	and	make	Central	Tech’s	
field	usable	again.	A	new	type	of	natural	hybrid	grass,	used	in	many	high-use	sports	fields,	could	
create	a	safe	and	resilient	surface	for	players.	
Sharon	Samet	
24. March	2,	2015			
I'm	writing	to	express	my	concerns	about	the	TDSB's	plans	for	the	Central	Tech	field	and	others.	
The	Toronto	District	School	Board	and	Razor	Management	are	rushing	into	the	commercial	
development	of	public	land	without	adequate	public	consultation	or	consideration	of	the	
negative	health	impacts	on	students	and	the	environment.	From	a	health	and	safety	
perspective,	this	is	a	terrible	deal	for	our	community,	exposing	us	to	unnecessary	toxins	and	
carcinogens.	From	an	economic	perspective,	it	is	a	bad	deal	that	gives	far	too	much	revenue	for	
the	use	of	community	green	space	to	a	private	company.	In	terms	of	planning,	what	this	means	
in	terms	of	traffic	and	other	issues	needs	to	be	fully	explored.	The	TDSB	should	not	be	pushing	
these	kinds	of	projects,	which	have	far-reaching	consequences	for	the	city	and	particularly	for	
the	residents	who	live	nearby,	without	full	consultation,	open	data	and	a	thorough	discussion	of	
the	health	risks.	
Dominique	Russell	
25. March	2,	2015	
I	am	shocked	by	the	lack	of	responsibility	shown	by	the	Toronto	School	Board	in	its	planned	
decision	to	install	crumb	rubber	in	areas	of	play	for	children	and	young	adults.	
Anyone	who	looks	seriously	into	the	research	available	would	see	what	a	potentially	dangerous	
decision	this	is,	with	long	term	costs	and	effect.Since	crumb	rubber	is	a	material	that	cannot	be	
legally	disposed	of	in	landfills	or	ocean-dumped	because	of	its	toxicity	why	have	it	in	areas	
where	children	will	be	forced	to	play?	
	
The	long	term	costs	will	prove	too	expensive	for	us	all.	

pauline	cummins	
26. March	2,	2015		
To	Whom	It	May	Concern:	
	
I	am	very	concerned	with	TDSB's	intention	to	install	synthetic	turf	at	Central	Technical	High	
School.	There	are	significant	health	and	environmental	concerns	associated	with	artificial	turf	
and	crumb	rubber	infill.	I	believe	it	is	irresponsible	to	forge	ahead	with	this	proposal.	There	are	
alternatives	that	would	not	compromise	our	health	and	the	aesthetic	integrity	of	the	area.	
Surely	we	can	do	better	for	our	young	people,	our	community	and	our	city.	
Thank	you	for	your	attention.	
	
Marilyn	Bercovich	
27. February	23,	2015	
How	can	you	justify	not	telling	Torontotians	-especially	parents,	about	the	gra	health	hazards	of	
artificial	turf?	Central	tech	693	bathurst	street	is	of	great	to	many	of	us.		
Francine	Zuckernan	
28. February	16,	2015	
I	support	the	efforts	to	save	our	natural	fields.	The	transformation	of	the	green	lawn	will	be	
harmful	to	residents,	to	small	businesses,	to	students,	and	to	users.	I	encourage	our	leaders	to	
consider	the	effect	this	will	have	on	the	community	of	residents	around	the	field	as	well.	
Orit	Sarfaty	
29. February	14,	2015	
Hello	TDSB	and	everyone	involved	in	decisions,	
I	have	just	learned	of	the	plans	to	astro-turf	the	playing	field	at	Central	Tech.	As	a	retired	
educator,	this	causes	me	concern	on	many	levels.	I	think	my	primary	concern	revolves	around	
the	related	health	factors.	I	have	had	first	hand	experience	with	the	"crumb	rubber"	due	to	high	
school	football	games.	It	seems	to	get	into	everything	no	matter	how	vigilant	I	have	been.	I	was	
horrified	to	learn	that	this	material	is	made	from	old	tires	that	cannot	be	legally	disposed	of	in	
landfills	or	ocean-dumped	because	of	its	toxicity.	I	see	no	reason	to	have	growing	kids	
breathing	in	this	toxic	cocktail	or	rubbing	it	on	their	skin.	Some	of	the	chemicals	in	question	are	
proven	to	be	toxins	and	hormone	disrupters.		

For	this	same	reason,	I	worry	that	as	moisture	passes	through	the	crumb	rubber	it	will	bring	
with	it	these	toxins,	eventually	soaking	into	the	groundwater	as	well	as	flowing	into	our	creeks,	
rivers,	lakes.	If	there	is	an	alternative	to	poisoning	our	children	and	our	environment,	let's	
choose	it!!!	
Just	one	more	thought.......	It	makes	me	sad	to	think	that	because	of	the	public/private	
partnership,	the	general	public	will	not	be	able	to	head	over	to	the	local	high	school	to	use	the	
track	or	have	a	friendly,	impromptu	game	of	ball.	I	remember	when	my	Dad	would	take	us	over	
the	to	the	high	school	to	fly	a	kite	or	remote	control	plane.	Let's	guard	these	dwindle	number	of	
public	recreational	spaces	for	the	good	of	the	many,	not	just	those	that	can	afford	to	use	them.	
I	will	be	following	this	issue	with	great	interest.	
Karen	Rathwell	
Wellington	Water	Watchers	
Guelph,	ON	
30. February	13,	2015	
Stop	privatizing	the	commons!	
Judy	Lewis	
31. February	10,	2015	
I	send	this	letter	regarding	the	plan	of	the	Toronto	District	School	Board	(TDSB)	and	others	to	
convert	a	number	of	playgrounds	and	sports	fields	across	the	city	from	natural	to	artificial	turf.	
	
I	am	concerned	about	the	environmental	and	health	hazards	of	artificial	turf.	I	am	most	
alarmed	to	learn	that	children	and	adolescents	are	especially	vulnerable	to	the	toxins	and	
carcinogens	that	artificial	turf	releases.	All	players	are	at	risk	for	joint	injuries	and	burns	when	
falling.	As	well,	fields	of	artificial	turf	create	heat	islands	in	the	summer,	do	not	allow	for	the	
natural	drainage	of	water,	and	negatively	affect	the	life	of	city	birds.	
	
No	wonder,	FIFA,	the	body	that	governs	international	football/soccer	tournaments,	banned	the	
use	of	artificial	turf,	years	ago.	
	
The	City	of	Toronto	has	led	the	way	in	North	America	on	other	health/environmental	issues.	I	
urge	Toronto	Public	Health	to	ban	the	use	of	artificial	turf	in	our	city.	
Laurie	Kwasnik	

32. February	9,	2015	
Hi	there,	
I	am	concerned	about	the	environmental	health	impacts	of	introducing	turf	over	real	grass	to	
our	school	lawns.	
this	is	a	list	of	toxins	that	could	be	released	from	artificial	turf	including	:	
download	acetone,	aniline,	arsenic,	barium,	benzene,	benzothiazole,	cadmium,	chloroethane,	
chromium,	cobalt,	copper,	halogenated	flame	retardants,	isoprene,	latex,	lead,	manganese,	
mercury,	methyl	ethyl	KETONE,	methyl	isobutyl	ketone,	naphthalene,	nickel,	phenol,	pigments,	
polycyclic	aromatic	hydrocarbons,	styrene	–	butadiene,	toluene,	and	trichloroethylene	
	
“This	crumb	rubber	is	a	material	that	cannot	be	legally	disposed	of	in	landfills	or	ocean-dumped	
because	of	its	toxicity.	Why	on	earth	should	we	let	our	children	play	on	it?”	
Dana	Newman	
33. February	9,	2015		
I	send	this	letter	regarding	the	plan	of	the	Toronto	District	School	Board	(TDSB)	and	others	to	
convert	a	number	of	playgrounds	and	sports	fields	across	the	city	from	natural	to	artificial	turf.	
I	am	concerned	about	the	environmental	and	health	hazards	of	artificial	turf.	I	am	most	
alarmed	to	learn	that	children	and	adolescents	are	especially	vulnerable	to	the	toxins	and	
carcinogens	that	artificial	turf	releases.	All	players	are	at	risk	for	joint	injuries	and	burns	when	
falling.	As	well,	fields	of	artificial	turf	create	heat	islands	in	the	summer,	do	not	allow	for	the	
natural	drainage	of	water,	and	negatively	affect	the	life	of	city	birds.	FIFA,	the	body	that	
governs	international	football/soccer	tournaments,	banned	the	use	of	artificial	turf,	years	ago.	
	
The	City	of	Toronto	has	led	the	way	in	North	America	on	other	health/environmental	issues.	I	
urge	Toronto	Public	Health	to	ban	the	use	of	artificial	turf	in	our	city.	
Sara	Promislow	
34. February	9,	2015	
Dear	TDSB,	Toronto	Public	Health,	Politicians,	and	Journalists,	
	
Please	protect	Toronto	children	from	cancer	causing	chemicals	in	
artificial	turf	playing	fields.	
	
Sincerely,	

	
Steven	McCabe	
Toronto	resident	
35. February	9,	2015		
I	send	this	letter	regarding	the	plan	of	the	Toronto	District	School	Board	(TDSB)	and	others	to	
convert	a	number	of	playgrounds	and	sports	fields	across	the	city	from	natural	to	artificial	turf.	
I	am	concerned	about	the	environmental	and	health	hazards	of	artificial	turf.	I	am	most	
alarmed	to	learn	that	children	and	adolescents	are	especially	vulnerable	to	the	toxins	and	
carcinogens	that	artificial	turf	releases.	All	players	are	at	risk	for	joint	injuries	and	burns	when	
falling.	As	well,	fields	of	artificial	turf	create	heat	islands	in	the	summer,	do	not	allow	for	the	
natural	drainage	of	water,	and	negatively	affect	the	life	of	city	birds.	
	
No	wonder,	FIFA,	the	body	that	governs	international	football/soccer	tournaments,	banned	the	
use	of	artificial	turf,	years	ago.	
	
The	City	of	Toronto	has	led	the	way	in	North	America	on	other	health/environmental	issues.	I	
urge	Toronto	Public	Health	to	ban	the	use	of	artificial	turf	in	our	city.	
Hilary	Cook	
36. January	28,	2015	
As	long	as	there	continue	to	be	concerns	about	the	toxicity	and	safety	of	artificial	turf	we	
should	put	a	hold	on	any	further	installations	in	our	schools.	At	the	same	time	we	know	without	
a	doubt	that	that	soil	and	real	sod	are	good	for	the	environment	and	cause	fewer	injuries.	It	
seems	evident	that	the	equation	is	weighted	in	favour	of	preserving	and	where	necessary	
restoring	natural	fields	for	the	good	of	the	students,	the	neighbourhood	and	the	city.	
Miriam	Ticoll		
37. January	28,	2015	
I	am	dismayed	to	learn	that	artificial	turf	will	be	used	on	the	playing	field	at	Central	Tech	
instead	of	the	natural	field	that	is	there	presently.	
Green	space	in	downtown	Toronto	is	absolutely	vital	to	the	well-being	of	the	city	and	must	be	
protected	at	all	costs.	Artificial	turf	introduces	unwanted	toxins	and	turns	what	is	essentially	a	
natural	field	into	a	no-	go	zone	for	the	community.	
The	field	is	used	by	and	members	of	the	community	alike.	

Open	green	space	helps	to	reduce	the	temperature	of	the	city..	
	
There	are	laws	in	downtown	Toronto	that	specify	that	green	space	must	exist	within	a	5	mile	
radius.	
	
This	site	is	the	only	green	space	for	miles	and	could	be	contested	for	that	alone.	
This	issue	is	of	vital	importance.	
I	hope	that	due	diligence	will	be	done	here.	
Best,	
Candida	Girling	
38. January	28,	2015	
I	am	writing	this	letter	in	support	of	NoToxicTurf.	As	a	retired	high	school	teacher,	I	believe	it	is	
essential	that	we	preserve	all	school	grounds,	parks,	playgrounds	and	public	spaces	free	of	
artificial	turf,	for	both	health	and	environmental	reasons.	I	hope	you	will	consider	this	request.	
Sincerely,	
Nick	Hagiepetros	
39. January	28,	2015	
We	need	grass	fields	in	this	city.	They	give	off	oxygen,	sequester	carbon	dioxide,	yield	pleasant	
smells,	and	they	also	give	when	you	make	a	sharp	turn	on	the	field.	Turf	is	not	proven	to	be	safe	
to	our	kids.	A	moratorium	should	be	declared,	and	this	field	should	not	be	ripped	up	against	the	
wishes	of	the	community,	who	after	all	are	paying	the	taxes.		
aaron	davis	
40. January	22,	2015	
Please	do	not	replace	grass	on	the	field	of	Central	Tech	with	artificial	turf.	
Artificial	turf	should	not	replace	grass	on	any	field.	
The	reports	of	toxicity	and	injury	to	people,	are	too	compelling	and	frightening.	
Yael	Brotman	
	
	
41. January	22,	2015	

Hello,	and	thank	you	for	reading	my	letter,	
	
Please	consider	the	importance	of	saving	Central	Tech	High	School's	playing	field	from	
privatization	and	this	new	development	proposal.	I	speak	for	many	when	I	say	that	public	
outdoor	spaces	are	extremely	important	to	the	vitality	and	well	being	of	a	city	and	its	
population.	This	is	a	step	in	the	wrong	direction,	and	sends	a	message	that	crucial	public	
outdoor	spaces	can	be	sold	off.		
	
Please	invest	in	restoring	the	field,	for	the	use	of	public	citizens.	Not	enough	research	has	been	
done	into	the	tire	waste	being	used	for	the	field,	and	the	environemental	risk	is	avoidable	if	you	
work	to	counter	this	bid.	
	
Thank	you,	
	
Sebastien	Heins	
	
Concerned	Citizen	
42. January	22,	2015	
WE	NEED	TO	SAY	NO	TO	SYNTHETIC	TURF	
	
When	an	institution	or	a	jurisdiction	has	available	grass	fields,	as	most	communities	in	
Canada	do,	it	is	a	terrible	mistake	to	install	synthetic	turf	fields,	especially	those	made	from	
materials	containing	recycled	rubber	tires.	There	are	two	fundamental	reasons	to	avoid	
these	products.	The	first	involves	the	health	of	our	children.	And	the	second,	related	
objection	centers	on	the	negative	environmental	impact	of	synthetic	turf	fields.		
	
HEALTH:	
	
Unfortunately,	few	people	are	aware	of	the	actual	level	of	scientific	research	into	these	
playing	surfaces,	and	virtually	everyone	continues	to	consume	them	despite	the	future	
likelihood	of	litigation	unimagined	at	this	time,	but	altogether	possible	in	the	future.	
	
I	am	someone	who	has	invested	several	thousand	dollars	of	my	own	funds	for	an	
investigation	of	synthetic	turf	carried	out	at	Rutgers	University	in	the	United	States.	That	
research	found	the	usual	troubling	factors	associated	with	rubber	pellet	fields,	but	the	
science	remained	incomplete.	And	there	was	a	very	good	reason	for	this	fragmentary	
result.		

	
To	my	knowledge,	no	one	has	done	a	full	and	thorough	scientific	study	of	even	one	set	of	
these	fields.	Why?	Because	even	in	one	field	of	recycled	tire	material	you	can	have	product	
coming	from	more	than	one	hundred	different	sources;	not	surprising,	since	an	average	
field	can	have	the	contents	of	20,000	to	40,000	recycled	rubber	tires.	To	do	a	proper	
investigation,	one	needs	to	take	many	samples	from	all	over	the	surface,	and	
simultaneously	attempt	to	trace	the	origin	of	the	material.	Secondly,	to	truly	examine	the	
effect	of	the	material	on	young	players,	one	really	needs	a	longitudinal	study	over	a	period	
of	approximately	15	years,	with	at	least	one	control	group	of	youngsters	who	have	always	
played	on	natural	grass	,	and	another	group	of	people	who	have	played	a	great	deal	on	the	
same	artificial	field.		
	
Obviously,	a	thorough	study	of	this	kind	would	require	the	long-term	co-operation	of	many	
people	and	the	expenditure	of	something	like	–	this	is	my	estimate	--	$10	million	dollars.		
	
That	kind	of	work	has	simply	not	been	done.	And	what	one	has	instead–	almost	always	–	
are	“studies”	that	are	simple	summaries	of	supposedly	already	completed	research	whose	
paucity	is	truly	depressing.	
	
The	precautionary	principle	dictates	that	the	agent	of	possibly	harmful	change	bears	the	
burden	of	proof	to	establish	that	the	change	he	or	she	is	initiating	does	not	cause	harm.		
	
In	the	case	of	these	synthetic	fields,	we	as	a	society,	I	believe,	have	thrown	the	
precautionary	principle	out	the	window.	We	expose	our	children	to	risk,	I	think,	and	we	
allow	them	to	bear	the	burden	of	testing	the	product,	in	the	same	way	that	we	allowed	
ourselves	to	smoke	ourselves	to	death	before	litigation	eventually	established	the	
responsibility	of	tobacco	companies	for	harm	done	to	individuals.	
	
Here	is	an	excerpt	from	an	NBC	News	investigation	examining	the	disquiet	felt	in	the	United	
States	by	Washington	state	athletic	coach	Amy	Griffin	when	she	noticed	high	levels	of	
cancer	among	soccer	goalies	who	played	on	synthetic	turf	fields.	
	
The	NBC	report	remarks:	
	
“Artificial	turf	fields	are	now	everywhere	in	the	United	States,	from	high	schools	to	multimillion-dollar	athletic	complexes.	As	any	parent	or	player	who	has	been	on	them	can	testify,	
the	tiny	black	rubber	crumbs	of	which	the	fields	are	made	--	chunks	of	old	tires	--	get	
everywhere.	In	players'	uniforms,	in	their	hair,	in	their	cleats.	

But	for	goalkeepers,	whose	bodies	are	in	constant	contact	with	the	turf,	it	can	be	far	worse.	
In	practices	and	games,	they	make	hundreds	of	dives,	and	each	plunge	sends	a	black	cloud	
of	tire	pellets	into	the	air.	The	granules	get	into	their	cuts	and	scrapes,	and	into	their	
mouths.	Griffin	wondered	if	those	crumbs	-	which	have	been	known	to	contain	carcinogens	
and	chemicals	-	were	making	players	sick.	
"I've	coached	for	26,	27	years,"	she	said.	"My	first	15	years,	I	never	heard	anything	about	
this.	All	of	a	sudden	it	seems	to	be	a	stream	of	kids."	
	
Since	then,	Griffin	has	compiled	a	list	of	38	American	soccer	players	--	34	of	them	goalies	-	
who	have	been	diagnosed	with	cancer.	At	least	a	dozen	played	in	Washington,	but	the	
geographic	spread	is	nationwide.	Blood	cancers	like	lymphoma	and	leukemia	dominate	the	
list.	
No	research	has	linked	cancer	to	artificial	turf.	Griffin	collected	names	through	personal	
experience	with	sick	players,	and	acknowledges	that	her	list	is	not	a	scientific	data	set.	But	
it's	enough	to	make	her	ask	whether	crumb	rubber	artificial	turf,	a	product	that	has	been	
rolled	out	in	tens	of	thousands	of	parks,	playgrounds,	schools	and	stadiums	in	the	U.S.,	is	
safe	for	the	athletes	and	kids	who	play	on	it.	Others	across	the	country	are	raising	similar	
questions,	arguing	that	the	now-ubiquitous	material,	made	out	of	synthetic	fibers	and	scrap	
tire	--	which	can	contain	benzene,	carbon	black	and	lead,	among	other	substances	--	has	not	
been	adequately	tested.	Few	studies	have	measured	the	risk	of	ingesting	crumb	rubber	
orally,	for	example.”	
	
(http://www.nbcnews.com/news/investigations/how-safe-artificial-turf-your-child-playsn220166)	
	
Let	us	make	two	arguments	regarding	this	report.	
	
First,	let	us	assume	that	there	is	categorically	no	link	of	“cancer	to	artificial	turf.”	Then,	
presumably,	the	disproportionate	number	of	sick	people	who	also	played	on	synthetic	turf,	
as	observed	by	coach	Griffin,	is	simply	a	chance	coincidence	and	nothing	can	be	concluded	
from	the	coach’s	observations.	
	
But,	secondly,	let	us	say	that	there	is	a	connection	of	“cancer	to	artificial	turf”	and	that	in	
the	future	such	a	causal	connection	is	proven	scientifically.	What	then	will	be	the	legal	
position	of	officials	and	responsible	people	who	can	be	proven	to	have	deliberately	received	
health	warnings	made	to	them	prior	to	the	installation	of	the	surface	in	a	place	or	
jurisdiction	where	these	officials	have	authority?	
	

It	is	difficult	to	answer	the	question,	but	I	know	that	in	North	America	there	are	already	
people	ready	and	waiting	to	initiate	class	action	suits	in	case	such	an	evolution	of	the	
testing	research	should	take	place.		
	
THE	ENVIRONMENT	
	
There	is	one	element	of	damage	to	health	that	is	incontestable.	Sustaining	the	health	of	
others	is	a	question	of	trying	not	to	remove	an	obvious	good	for	both	children	and	adults.		
	
For	example,	if	families	live	near	an	unpolluted	canal	where	people	can	swim	and	then	that	
body	of	water	becomes	damaged	by	pollution,	to	the	point	that	swimming	becomes	
impossible	and	certain	people	even	become	ill,	then	the	polluter	becomes	liable	for	
degrading	the	environment	and	harming	individuals.	A	previously	benign	environment	has	
been	degraded	and	a	previous	good	has	been	removed.	
	
The	removal	of	a	previous	environmental	good	is	what	results,	I	think,	from	the	substitution	
of	a	natural	grass	field	with	a	synthetic	turf	field.	
	
Synthetic	turf	fields	produce	a	very	obvious	heat	island	effect.	Interestingly,	even	the	most	
humble	and	ill-maintained	field	of	grass	carries	out	work	of	photosynthesis	that	has	marked	
benefits	for	people	playing	on	that	grass.	A	natural	grass	field	absorbs	CO2	and	generates	
oxygen.	That	makes	the	ambient	air	markedly	cooler.	Also,	the	soil	on	grass	fields	is	capable	
of	absorbing	and	breaking	down	infectious	material,	such	as	mucous.	A	synthetic	field	is	hot	
in	high	temperatures,	and	athletes	who	scrape	themselves	on	the	inorganic	surface	must	
have	their	skin	surfaces	treated	immediately.	
	
Attached	to	this	letter	is	the	heat-island	study	carried	out	in	Montreal	by	Camilo	Pérez	
Arrau	in	2007.	You	will	note	that	the	natural	grass	fields	of	Westmount	Park	are	used	as	a	
control	for	the	comparative	study,	and	that	these	fields	show	up	as	blue	on	the	color-coded	
temperature	gradient	that	Arrau	uses.	
	
I	happen	to	live	right	in	front	of	these	fields	–	and	I,	along	with	other	members	of	Save	The	
Park!	(a	group	that	belongs	to	The	National	Association	of	Olmsted	Parks,	in	Washington	
D.C.)	fought	successfully	to	maintain	these	grass	fields	and	to	not	have	them	replaced	by	
synthetic	turf.	
	
I	know	these	fields	well.	They	are	not	wonderfully	maintained	and	there	is	not	anything	that	
special	about	them.	But	they	provide	incontestable	goods	to	the	people	who	live	nearby.	

They	create	an	air	temperature	that	is	noticeably	cooler	in	summer	time	and	relatively	
oxygen-rich	compared	to	the	surrounding,	urban	streets	such	as	Ste.	Catherine.		
	
Arrau’s	study	is	based	on	Landsat	5	photos	and	he	matches	natural	fields	with	well-known	
synthetic	surfaces	in	Montreal.	The	temperature	difference	in	every	case	is	from	5	degrees	
Celsius	to	close	to	10	degrees	Celsius	difference.	When	New	York	City	first	looked	into	the	
state	of	its	own	synthetic	fields,	it	began	to	post	heat	warnings	in	the	summer	precisely	
because	of	the	heat	island	effect.	
	
Natural	grass	fields	are	healthier	but	they	are	also	multi-purpose	areas.	People	can	play	
freely	on	them,	lounge,	picnic,	and	stand	closely	if	they	want	to	watch	young	children	play.		
	
Both	animals	and	human	beings	fare	much	better	on	natural	grass.	To	take	away	a	natural	
field	from	someone,	I	believe,	is	to	do	them	environmental	harm.	
	
If	I	had	young	children	at	this	time	–	I	would	not	permit	them	to	play	on	synthetic	surfaces,	
and	I	would	take	that	decision	as	part	of	my	job	as	a	parent,	exercising	a	precautionary	
principle	on	behalf	of	my	own	kith	and	kin.	
	
We	have	rushed	obsessively	to	install	these	artificial	surfaces,	to	the	point	that	we	believe,	
somehow,	that	it	is	impossible	to	play	field	games	on	natural	surfaces.	
	
Quite	frankly	this	attitude	resembles	a	kind	of	obsessive	addiction	that	has	harmful	effects	
both	for	the	consumer	and	the	supplier.	
	
I	–	and	a	number	of	people	such	as	myself	–	are	in	earnest	about	this	issue.	We	have	already	
spent	thousands	of	dollars	seeking	answers	to	our	questions,	and	we	will	probably	end	up	–	
collectively	–	spending	millions	until	we	are	really	know	the	truth	about	the	questions	raised	
by	such	people	as	Amy	Griffin.	
	
As	is	often	said	in	another	context,	we	believe	we	all	need	to	learn	to	say	NO	and	to	say	NO	
….NOW.	
	
Patrick	Barnard	
Westmount	Quebec	
	
43. January	22,	2015	

Are	you	people	seriously	going	to	put	this	fake,	toxic	stuff	in	the	centre	of	our	city?	
Really	going	put	neighborhood	health	and	well	-	being	behind	greed?	
Are	you	really	going	to	hold	public	sporting	events	there		
when	school	is	out?	A	residential	neighbourhood	that	could	not	possibly	bear	the	traffic	and	
congestion.	
	
Disgraceful.	
	
You	could	do	the	right	thing	and	use	the	green	
alternative	available	to	you.	You	could	set	an	example.	You	could	be	a	beacon.	You	will	
get	much	better	press	if	you	do	the	right		
by	the	neighbourhood,	the	community,	
the	environment	and	the	City.	
	
Yours	very	truly,	
	
Batsheva	Capek	
	
The	No	Toxic	Turf	movement	affects	our	health	and	our	community.	
44. January	19,	2015	
Greetings,	
	
I	am	writing	to	ask	that	you	do	whatever	you	can	to	save	the	playing	field	at	Central	Tech	High	
School	from	privatization	and	development.	Public	outdoor	spaces	are	a	precious	urban	
resource,	and	the	field	at	Central	Tech	has	been	a	vital	part	of	the	community	for	years.	The	
field	has	been	neglected	in	recent	years,	and	its	contamination	is	worrying,	but	this	is	merely	a	
call	to	action	to	restore	the	field.	Please	consider	the	proposals	to	restore	the	field	that	keep	it	
a	public	outdoor	space.	Should	the	misguided	decision	to	build	an	indoor	dome	be	pursued,	I	
would	call	on	our	leaders	to	give	the	scientific	community	time	to	examine	the	reports	of	
increased	cancer	incidence	in	soccer	goalies	playing	primarily	on	this	material.	
	
Sincerely,	
Ishai	Buchbinder	
	
45. January	19,	2015	

To	Whom	it	May	Concern,	
	
I	am	writing	this	letter	because	I	am	extremely	concerned	with	the	current	proposal	to	install	
artificial	turf	on	the	field	of	Central	Tech.	My	concern	stems	from	the	hastiness	of	this	decision,	
and	from	the	plethora	of	potential	health	and	environmental	concerns	which	are	created	by	
artificial	turf.	A	school	field,	and	greenery	in	general,	is	supposed	to	be	a	site	of	healthy	physical	
activity,	and	rejuvenating	connection	to	the	outdoors.	This	new	proposed	artificial	field,	
however,	will	introduce	very	dangerous	toxins,	carcinogens	and	hormones	into	the	
environment,	as	well	as	dangerously	high	heat	levels	in	the	summer	months.	Couple	that	with	
the	increased	risk	of	staph	infection	and	the	pollution	this	field	will	introduce	into	our	already	
oh-so-fragile	water	table,	and	you	start	to	get	the	picture	of	the	immeasurable	harm	this	plan	
will	cause.		
	
I	know	this	is	an	issue	that	many,	in	addition	to	myself,	are	taking	very	seriously.	Please,	I	urge	
you	to	take	our	concerns	seriously,	and	investigate	the	proposed	top	soil	proposal	instead.	
	
Thank	you	for	taking	the	time	to	hear	my	voice	on	this	issue.	
	
Sincerely,	
	
Mitchell	Cushman		
	
A	report	from	the	school	board’s	consultant	has	stipulated	that	applying	6-8	inches	of	topsoil	
and	a	layer	of	new	sod	would	remedy	the	current	contamination	problem	and	make	Central	
Tech’s	field	usable	again.	A	new	type	of	natural	hybrid	grass,	used	in	many	high-use	sports	
fields,	could	create	a	safe	and	resilient	surface	for	players.	
46. January	13,	2015	
Dr.	David	McKeown,	
	
I'm	writing	to	state	my	objection	to	the	current	plan	to	transform	the	four	acre	field	at	Central	
Tech	into	a	artificial	turf	/	80	foot	high	dome,	as	well	as	the	plans	for	several	other	playgrounds	
to	be	converted	to	artifical	turf.		
	
Specifically,	I'm	very	concerned	about	the	possible	health	issues	associated	with	the	use	of	
artifical	turf	-	at	the	very	least	there	should	be	a	moratorium	on	the	instillation	of	tire	waste	
artificial	turf	until	it's	proven	that	it	is	safe.		
	

Sincerely,	
	
Simon	Bloom	
co-Artistic	Director	
Outside	the	March	Theatre	Company	
47. January	9,	2015	
I	am	against	removing	natural	grass	for	any	alternative.	The	grass	is	healthy,	beautiful	and	has	
withstood	the	test	of	time.	
Michael	Gerry	
48. January	1,	2015	
Stop	the	TDSB	plan	for	artificial	turf	in	Central	Tech	field	at	725	Bathurst	Street;for	so	many	
reasons	this	is	wrong:	
	
-	Health	hazatd,	-	The	turf	is	full	of	toxic	materials.	
-	The	decision	was	made	without	takingi	into	account	the	community	view	and	without	due	
process.	
-	With	the	cooperation	of	the	TDSB;	the	CTS	students	have	been	bribed	with	promisses	based	
on	misguided	information	
	
Nomi	Drory	
128	Markham	Street	
Toronto	
M	6J2G5	
49. January	1,	2015	
Stop	the	astro	turf	because	it	is	toxic,	and	is	a	proven	carcinogen.	
My	address	is	28	Markham	St,	and	would	be	very	disappointed	to	have	this	happen	in	my	
neighbourhood.	
Phillip	Woolf	
	
50. December	16,	2014	

Please	do	not	replace	our	healthy	natural	grass	field	with	toxic	tire	waste	artificial	turf!	
Thank	you	for	listening	to	your	community.	
Jennifer	Capraru	
51. December	1,	2014	
Please	protect	our	children	from	exposure	to	the	toxins	and	carcinogens	that	are	released	from	
crumb	rubber	artificial	turf.		
When	these	fields	are	being	de-installed	and	banned	all	over	the	world,	the	TDSB	is	being	shortsighted	and	irresponsible	in	promoting	them.	There	are	new	natural	grasses	that	are	low	
maintenance	and	do	not	require	pesticides.	
And	please	read	this	important	recent	article,	below.	
A	concerned	parent,	
Devra	Kaplan	
	
http://www.infowars.com/dads-petition-seeks-to-ban-artificial-turf-sports-fields-overreported-link-to-cancer/	
52. November	24,	2014	
Dear	City	Officials,	
	
I	understand	field	space	is	incredibly	important	for	students.		
	
However,	I	have	been	shocked	to	learn	about	the	health	impacts	that	the	proposed	FIFA-grade	
artifical	turf	that	would	be	installed	in	Central	Tech's	currently	contaminated	field.	According	to	
recent	research	findings	and	evidence,	it	could	in	fact	have	a	far	more	grave	impact	on	the	
health	of	students	than	the	turf	would	itself.		
	
Central	Tech	students	and	their	families	are	possibly	not	aware	of	the	controversy	surrounding	
this	topic.	NBC	currently	did	a	news	piece	examining	the	possible	link	between	artificial	turf	and	
cancer,	citing	an	alarming	number	of	children	who	have	played	on	artificial	turf	and	soon	gotten	
cancer	-	this	seems	to	affect	goalies	especially.	Blood	cancers	like	lymphoma	and	leukemia	
dominate	the	shocking	list.	
	
“During	the	past	two	decades,	there	have	been	more	than	60	technical	studies	and	reports	that	
review	the	health	effects	of	crumb	rubber	as	it	pertains	to	toxicities	from	inhalation,	ingestion	
and	dermal	contact,	as	well	as	cancer,”	the	Synthetic	Turf	Council,	an	industry	group,	said	
Thursday	in	a	statement	responding	to	the	initial	NBC	News	report.	An	official	study	on	what	

effects	exposure	to	the	chemicals	in	crumb	rubber	turf	fields	might	have	on	athletes	has	been	
requested	by	the	US	Federal	government's	Agency	for	Toxic	Substances	and	Disease	Registry.		
	
A	former	soccer	player	interviewed	for	the	piece	who	now	has	cancer	is	quoted	saying	that	
after	playing	on	the	artificial	turf	she	would	“have	little	black	dots	(from	the	crumb	rubber)	in	
her	ears	and	nose.”	
	
With	such	intensely	serious	health	impacts	of	artificial	turf	now	going	under	federal	
investigation,	it	is	your	responsibility	as	city	officials	-	and	perhaps	parents	yourselves	-	to	shut	
down	the	proposal	now	going	to	the	OMB	to	install	artificial	turf.	
	
Seeing	as	how	the	field	is	contaminated,	what	an	opportunity	for	students	to	participate	in	the	
planning	and	safe	installation	of	a	new	natural	field	that	they	can	be	proud	of	-	and	safe	on.	
	
Thank	you	for	reviewing	my	request.		
	
Lenni	Jabour	
53. November	11,	2014	
Ms.	Lachapelle,	
	
I	strongly	encourage	Toronto	Public	Health	to	undertake	a	thoroughgoing	study	of	SBR	(waste	
tire)	infill	on	athletic	fields	in	Toronto.	The	fact	that	environmental	toxins	(Class	2A	carcinogens	
and	endocrine	disruptive	chemicals)	are	present	in	this	type	of	material	should	be	reason	
enough	to	warrant	further	study	of	the	public	health	threat	they	represent.	The	additional	facts	
that	in	scientific	studies	it	has	been	shown	that	the	amount	of	these	chemicals	in	a	given	
sample	may	vary	widely	due	to	differences	in	source	material,	and	that	many	ingredients	in	
tires	are	unknown	(held	as	trade	secrets),	should	underscore	the	necessity	of	an	investigation	
by	TPH.		
	
Expressed	concerns	of	parents	and	public	health	advocates	in	Toronto	and	elsewhere	should	
not	be	ignored.	
Mike	Murphy	
	
	
54. November	11,	2014	

I	believe	that	playing	on	artificial	turf	&	ground-up	tire	waste	infill	poses	a	serious	risk	to	the	
health	of	our	children.	This	industrial	waste	material	containing	multiple	carcinogens	has	not	
been	tested	in	animals.	So	this	means	its	first	real	testing	has	been	on	our	children.	NBC	
Network	News	has	recently	reported	a	cancer	cluster	in	young	soccer	goalies	playing	on	this	
toxic	waste	material.	We	need	to	replace	all	the	articial	turf	now	before	more	children	are	
taken	ill.	Thank	you	for	your	attention	regarding	my	concern.	
Lillian	Blunden	
55. November	11,	2014	
I	am	totally	against	the	use	of	artificial	turf	at	Central	Tech.	It	is	hazard	to	our	health.	
Ruth	Krakowski	
56. October	23,	2014	
No	Toxic	Turf!	
Rosie	Aiken	
57. October	23,	2014	
I	have	two	school	age	children.	We	live	in	Toronto.	
I	moved	from	New	York	City	to	raise	my	children	in	a	healthier,	greener	city.	
The	mix	of	toxins	and	carcinogens	that	young	players	will	inhale	upon	the	installation	of	tire	
waste	synthetic	turf	on	Central	Tech's	field	is	a	detriment	not	only	to	the	children	using	the	
field,	the	neighbouring	community	exposed	to	the	toxins,	but	to	the	city	as	a	whole.	
When	a	city	chooses	to	embrace	toxins	and	contamination	it	affects	all	of	the	inhabitants.	
What	kind	of	investment	are	you	making	for	the	future	and	health	of	our	city?	
This	is	a	huge	mistake,	PLEASE	DONT	DO	IT!	
Amy	Lengyel	
58. October	22,	2014	
Can	you	speak	to	the	mix	of	toxins	and	carcinogens	that	young	players	will	inhale	upon	the	
installation	of	tire	waste	synthetic	turf	on	Central	Tech's	field?		
Janice	Greene	
	
59. October	22,	2014	

Environmentally	dreadful.	No	o2	producing	co2	eating	from	fake	grass.	What	are	you	trying	ti	
teach	these	kids	anyway?	Total	lack	of	respect	for	living	things	other	than	themselves?	Very	
creepy.	
M.	Catherine	Newcomb	
60. October	22,	2014	
I	support	the	moratorium	on	further	installation	of	tire	waste	artificial	turf	in	Toronto	schools	in	
order	to	protect	the	health	of	our	students,	communities	and	environment.	I	wish	to	preserve	
public	access	to	green	space.		
	
Of	immediate	concern:	Central	Tech's	playing	field.	My	concerns	include:	
	
The	mix	of	toxins	and	carcinogens	that	young	players	will	inhale	upon	the	installation	of	tire	
waste	synthetic	turf	on	Central	Tech's	field.	
Tthe	risk	of	heat	rash,	exhaustion,	and	potentially	heat	stroke	from	the	extreme	temperatures	
of	tire	waste	synthetic	turf	during	the	summer.	
The	lack	of	access	to	green	space	if	CTS's	field	is	replaced	with	artificial	turf	and	privatized.	
	
I	hope	that	you	will	speak	out	against	the	TDSB's	artificial	turf	proposal	that	they	are	now	taking	
before	the	OMB.	It's	just	a	bad	idea,	on	so	many	levels.	In	addition	to	the	health	concerns,	a	
dome	would	be	a	blight	on	the	historic	neighbourhood.	Please	advocate	against	this	idea.	To	
mind,	it	is	so	clearly	the	agenda	of	a	very	few	TDSB	officials	against	the	will	of	a	broad	
community.	
	
Sincerely,	
Aaron	Willis	
61. October	21,	2014	
That	open	vista	in	front	of	Central	Tech	is	like	a	breath	of	fresh	air	to	city	dwellers.	As	a	fourthgeneration	Torontonian,	I	care	about	our	city	and	don't	wish	to	see	our	quality	of	life	
diminished	through	such	efforts	at	privatization	and	commercialization	of	vital	components	of	
our	urban	landscape.	My	father	taught	night	school	at	Central	Tech	for	decades,	and	I	know	he	
would	have	been	opposed	to	the	astro	turf	proposal.	No	Toxic	Turf,	please!		
BILL	GLADSTONE,	Toronto	
	
62. October	21,	2014	

Dear	Sir/Madam,	
the	whole	idea	of	fake	and	toxic	turf	in	children's	playgrounds	and	public	spaces	totally	appals	
me.	The	scientific	community	has	put	out	so	much	damning	evidence	to	support	a	total	ban	of	
toxic	turf.	We	know	too	much	to	let	this	fake-grass	dwell	in	our	environment.	For	the	sake	of	
our	environment	and	our	health	and	our	children's	health....please	NO	TOXIC	TURF...your	
sincerely	Miriam	Erlichman.	
63. October	21,	2014	
Can	you	speak	to	the	mix	of	toxins	and	carcinogens	that	young	players	will	inhale	upon	the	
installation	of	tire	waste	synthetic	turf	on	Central	Tech's	field?	
Can	you	speak	to	the	risk	of	heat	rash,	exhaustion,	and	potentially	heat	stroke	from	the	
extreme	temperatures	of	tire	waste	synthetic	turf	during	the	summer?	
Can	you	answer	to	the	lack	of	access	to	green	space	if	CTS's	field	is	replaced	with	artificial	turf	
and	privatized?	
Hannah	Mengistu	
64. October	21,	2014	
This	is	wasteful	and	unhealthy	practice	favouring	special	interests	
Ronni	Rosenberg	
65. October	20,	2014	
I	and	my	wife	own	property	at	113	Major	St.	and	a	second	house	in	Shelley	Laskin's	ward.	
We	are	appalled	by	the	tenacity	of	TDSB	in	fighting	the	City	over	this.	
It	should	drop	this	toxic,	ugly	plan.	
For	the	amount	of	money	both	sides	have	spent	one	could	run	Central	Tech	for	the	next	10	
years!!	
Is	Razor	funding	TDSB's	legal	costs	in	this	matter	and	paying	any	costs	awarded	against	it?	
Please	advise.	
Murray	Teitel	
	
	
	
66. October	20,	2014	

Where	to	begin?	
I	know	the	TDSB	is	cash	strapped	but	giving	Razor	Management	control	over	the	playing	fields	
of	7	local	schools	seems	to	me	like	a	deal	with	the	devil.	
There	has	been	so	much	research	and	so	many	articles	and	media	reports	on	the	toxicity	of	
particles	from	shredded	tires,	that	it	seems	absurd	to	expose	young	people	and	whole	
neighbourhoods	to	a	potential	carcinogen.	
	
Patti	Wood,	Exec.	Director	of	Grassroots	Environmental	Education	expressed	the	sentiments	of	
the	community	when	she	wrote,	"The	crumb	residue	is	a	material	that	can't	be	legally	landfilled	
or	ocean	dumped.	Why	on	Earth	would	we	let	our	children	play	on	it?"	
As	someone	who	loves	the	historic	Harbord	Bathurst	neighbourhood,	I	worry	that	the	plan	will	
exacerbate	the	areas	serious	parking	problems	and	will	destroy	the	beautiful	Bathurst	St.	view	
of	historic	Central	Tech.	And	it	will	prevent	community	access	to	a	vital	piece	of	green	space.	
	
Sincerely	
David	Teitel	
67. October	20,	2014	
I	and	my	wife	own	property	at	113	Major	St.	and	a	second	house	in	Shelley	Laskin's	ward.	
We	are	appalled	by	the	tenacity	of	TDSB	in	fighting	the	City	over	this.	
It	should	drop	this	toxic,	ugly	plan.	
For	the	amount	of	money	both	sides	have	spent	one	could	run	Central	Tech	for	the	next	10	
years!!	
Is	Razor	funding	TDSB's	legal	costs	in	this	matter	and	paying	any	costs	awarded	against	it?	
Please	advise.	
Murray	Teitel	
68. October	20,	2014	
Where	to	begin?	
I	know	the	TDSB	is	cash	strapped	but	giving	Razor	Management	control	over	the	playing	fields	
of	7	local	schools	seems	to	me	like	a	deal	with	the	devil.	

There	has	been	so	much	research	and	so	many	articles	and	media	reports	on	the	toxicity	of	
particles	from	shredded	tires,	that	it	seems	absurd	to	expose	young	people	and	whole	
neighbourhoods	to	a	potential	carcinogen.	
Patti	Wood,	Exec.	Director	of	Grassroots	Environmental	Education	expressed	the	sentiments	of	
the	community	when	she	wrote,	"The	crumb	residue	is	a	material	that	can't	be	legally	landfilled	
or	ocean	dumped.	Why	on	Earth	would	we	let	our	children	play	on	it?"	
	
As	someone	who	loves	the	historic	Harbord	Bathurst	neighbourhood,	I	worry	that	the	plan	will	
exacerbate	the	areas	serious	parking	problems	and	will	destroy	the	beautiful	Bathurst	St.	view	
of	historic	Central	Tech.	And	it	will	prevent	community	access	to	a	vital	piece	of	green	space.	
	
Sincerely	
David	Teitel	
69. October	19,	2014	
I	truly	hope	that	the	TDSB	will	hold	off	on	signing	a	21	year	agreement	with	Razor	Management	
to	develop	a	domed	facility	at	Central	Tech	before	the	new	Trustees	are	in	place	and	are	able	to	
take	a	sober	second	look	at	this	project.	Artificial	turf	and	its	environmental	and	safety	
concerns	and	the	commercialization	of	a	publicly	accessible	track	in	a	neighbourhood	with	little	
green	space	-	just	two	of	many	reasons	that	this	project	is	problematic.	
	
Trustees,	PLEASE	do	the	right	thing	and	leave	the	option	open	to	consider	alternatives	in	
conjunction	with	the	city	of	Toronto	and	resident	associations,	DO	NOT	VOTE	to	sign	an	
agreement	with	Razor	Management	at	the	October	29th	TDSB	meeting.	Rushing	this	through	at	
the	last	minute	is	terribly	disrespectful	of	the	democratic	process.	
Miriam	Ticoll	
70. October	19,	2014	
I	am	a	mother	of	four	who	lives	in	the	area	and	am	concerned	about	the	TDSB	proposal	to	turn	
the	central	tec	playing	field	into	astro	turf	and	build	a	huge	dome.	Astro	turf	does	not	allow	
water	to	naturally	seep	back	into	the	ground	but	adds	toxins	into	the	mix	due	to	the	make-up	of	
the	turf	materials.	I	am	worried	about	the	extra	heat	build	up	that	it	causes,	the	lack	of	access	
to	the	field	and	the	huge	visual	impact	that	the	dome	would	have	on	the	streetscape.	
	
I	do	not	understand	why	the	TDSB	is	not	listening	to	their	neighbours	complaints	and	are	so	

forcefully	going	ahead	with	this	project	so	quickly....especially	since	there	is	going	to	be	a	new	
board	taking	office	December	1st.	
	
Sincerely	
Chari	cohen	
71. October	17,	2014	
What	is	wrong	with	real	grass?	Why	continue	this	push	for	astroturf	against	the	wishes	and	
common	sense	of	so	many	people.	When	we	have	torrential	rains,	where	does	the	water	
spillover	go	when	it	falls	on	astroturf	as	opposed	to	natural	grass?	Who	profits	from	overselling	
astroturf	to	the	city?	Is	there	an	irresistible	astroturf	lobby	in	Toronto?	
Libby	Hague	
72. October	17,	2014	
We	are	alarmed	by	the	artificial	turf	and	its	ramifications	at	Central	Tech.	Can	you	PLEASE	
answer	to	the	lack	of	access	to	green	space	if	CTS's	field	is	replaced	with	artificial	turf	and	
privatized!	
Deb	Filler	
73. October	17,	2014	
Hi,		
I	want	to	lend	my	support	against	the	proposes	leasing	out	of	public	lands	to	a	private	
company.	Schools	are	the	centre	of	local	communities,	and	the	grass	playing	field	at	central	
tech	playing	field	has	and	is	currently	used	by	the	community.	We	do	not	want	to	lose	this	
valuable	community	asset.	In	addition	to	change	the	field	to	an	artificial	turf	instead	of	natural	
grass	sets	a	bad	precedent.	Artificial	turf	is	toxic,	why	then	would	we	want	children	playing	on	it	
when	they	can	be	playing	on	natural	grass	like	they	have	done	for	many	decades..	I'm	
completely	against	turning	over	a	great	neighbourhoods	public	resource	to	a	private	company	
and	changing	a	natural	playing	field	into	plastic	turf.	Please,	don't	not	proceed	with	this	
proposal.		
Dean	Goodman	
	
	

74. October	14,	2014	
Please	read	these	two	recent	articles	about	artificial	turf	and	cancer	-	NBC	is	doing	a	series	
about	it	.	
Sincerely,	Rochelle	
http://www.nbcnews.com/news/investigations/how-safe-artificial-turf-your-child-playsn220166	
	
http://www.whizwitsports.com/the-scoop/artificial-turf-could-be-causing-cancer-amongformer-phillies	mlb-players	
75. October	13,	2014	
Dear	Sir/Madam,	
As	a	health	care	provider	and	a	resident	of	Toronto	I	feel	extremely	troubled	by	the	fashion	of	
laying	down	this	Toxic	Turf	in	our	children's	playgrounds,	sports	complexes	and	public	spaces.	
The	science	is	there	to	support	a	total	and	complete	ban	of	this	artificial	and	toxic	material.	
With	the	environment	and	public	health	so	prominently	in	our	collective	awareness	it	surprises	
and	shocks	me	that	the	risks	of	pursuing	laying	fake	and	toxic	grass	was	not	halted	in	it's	initial	
offering.	The	consciousness	is	there	and	the	means	are	there	to	find	safe	and	natural	ways	of	
safely	carpeting	our	spaces.	We	need	to	come	to	our	senses.....our	senses	say....let's	smell	
GRASS	and	put	a	stop	to	toxic	and	dangerous	substitutes....many	thanks		
Miriam	Erlichman	
	
	

Page 1 of 1

PUBLIC SUBMISSION

As of: 5/3/16 6:30 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8pei-xo5g
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0061
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Cindy Million
Address: 22302
Email: [email protected]

General Comment
My son's school has a crumb rubber play ground surface. The other day, I saw a neighbor's
9-month-old baby crawling on the surface. She fell and ended up with crumb rubber over her
face and hands. A piece of crumb rubber made it into her mouth before her mom could stop it.
How many other times has that happened? How many other babies have been ingesting the
crumb rubber? My son plays on the surface every day before lunch. I asked the school if his
class could wash their hands before lunch. I was told that there isn't enough time. So only my
son is allowed to wash his hands. The city soccer league has 4-year-olds playing on crumb
rubber athletic fields, and they eat half-time snacks on the field, without any hand washing.
We know what's in crumb rubber. We know what our kids are getting exposed to--whether it's
breathing in the VOCs, getting particles in their cuts when they fall, or ingesting the particles or
dust that results from the particle break-down. Kids should NOT be playing on carcinogens.
And yet they are. How can you let kids play on carcinogens when there's absolutely no longterm safety data? I've read through existing research articles. They have small sample sizes,
they are short-term, they are based on models not people. Please use common sense -carcinogens, endocrine disruptors, and heavy metals are not a good playing surface for children.
Please start considering our children's overall chemical burden and not the turf industry.

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Page 1 of 2

PUBLIC SUBMISSION

As of: 5/3/16 6:31 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8pej-3t7d
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0063
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Joan Bloom
Address: 98020
Email: [email protected]

General Comment
I will begin my comment with the following quote:
"While we are glad that chemical exposure to crumb rubber surfaces is finally drawing national
attention, this 'federal action plan' does not appear designed to lead to actual action," stated
PEER Executive Director Jeff Ruch whose organization led the drive to induce both EPA and
CPSC to withdraw their previous safety endorsements for crumb rubber surfaces. "The
Consumer Product Safety Commission does not need a survey to know that children come into
intimate contact with playground surfaces - it should instead use its clear existing authority to
protect children from harmful chemical exposures."
And:
THE PRECAUTIONARY PRINCLPLE: "When an activity raises threats of harm to human
health or the environment, precautionary measures should be taken even if some cause and
effect relationships are not fully established scientifically. In this context the proponent of an
activity, rather than the public, should bear the burden of proof. The process of applying the
precautionary principle must be open, informed and democratic and must include potentially
affected parties. It must also involve an examination of the full range of alternatives, including
no action."

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Page 2 of 2

I served a four year term as a council member in Edmonds, WA ending December of 2015. In
the last year of my term the Edmonds School District planned and installed a turf field, using
crumb rubber infill. Approval of the plans for this field came to City Council. I voted against
approval, for environmental reasons, but was outvoted 5-2. The building of the field went
forward with strong objections from parents whose children went to school directly next to the
field. The major concern was the use of crumb rubber infill, rather than an organic alternative.
I learned more than anyone would ever want to know about crumb rubber, and its use in sports
fields and playgrounds, and of the dangers to the children playing on those fields. With strong
support from a group of concerned citizens, mostly parents, we advocated for an alternative
infill. The Edmonds School District, the lead on the project, said no. Ultimately, the Edmonds
City Council voted to ban crumb rubber in the city of Edmonds on all athletic and play fields
for an 18 month period, beginning in December of 2015, while further studies are completed.
Throughout the process, more and more citizens changed from thinking crumb rubber was just
fine, thank you very much, to being strongly opposed to its use, anywhere. Concerns focused on
the harm to children, but extended to the harm to anyone coming into contact with the
dangerous heavy metals, and carbon black, that are contained in tires. By the time the Edmonds
City Council banned crumb rubber in a vote of 7-0, there were only a few citizens who still
thought crumb rubber did not pose any problems. This included the majority of the Edmonds
School Board (five members) and the superintendent of the Edmonds School District, who kept
referring back to an industry backed "study" that they commissioned, acting as if it was
authoritative, when it was clearly biased in support of the crumb rubber industry.
I appreciate that the original intention of the support to the crumb rubber industry was to find a
use for the thousands of tires piling up in landfills. But I like things to make sense, and it
MAKES NO SENSE to expose children and the environment to dangerous chemicals just to
recycle old tires. In my opinion, the EPA should IMMEDIATELY ban crumb rubber in athletic
fields and playgrounds. You have more than enough data about the dangerous contents of the
ground up tires (heavy metals, carbon black, and God knows what else) to make this call.
The EPA should then support research on other ways to recycle the old tires, uses that don't
require grinding the tires up and throwing the ground up stuff into the air we breathe and the
water we drink. I recently read an article suggesting that the use of whole tires as building
material for home made green houses is safe, as no chemicals are released into the environment.
Perhaps tires could safely be broken down and used to make new tires.
Assist the crumb rubber industry in finding other ways to make a profit on these free for the
taking dangerous waste products and spend not another minute of your time collecting data
while innocent children, their families and the environment, thus EVERYONE, continue to be
exposed to these dangerous chemicals.
The EPA got us into this mess. The EPA and the CPSC should get us out of it.
Thank you for your careful attention to my comments.

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Page 1 of 1

PUBLIC SUBMISSION

As of: 5/3/16 6:34 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8pel-3fcr
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0067
Comment on FR Doc # 2016-03305

Submitter Information
Name: Anonymous Anonymous

General Comment
Children have unique developmental vulnerabilities to the synergistic affects of unregulated
toxins in their environment. When exposed at a critical point in development the results can be
life altering
Our kids are not a science experiment. This has to stop. A recycling need cannot come before
the health of our children.

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Page 1 of 2

PUBLIC SUBMISSION

As of: 5/3/16 6:35 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8pem-abrk
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0068
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Sheldon Fishman
Address: 20902
Email: [email protected]

General Comment
Given all of the science on the record that demonstrates artificial turf is a threat to health and
the environment,
the precautionary principle dictates that artificial turf with crumb rubber infill be
recognized as a threat to public health and safety and the environment and that the ongoing
expansion and construction of crumb rubber turf fields should be prohibited.
Attached is a detailed description with references to documented health, safety, and
environmental risks of artificial turf fields.
The Parents Coalition of Montgomery County Maryland recommends that the research agenda
for ATSDR should be
supplemented with human epidemiology studies of artificial turf fields as soon as possible.
Human epidemiology will
reinforce the precautionary principle, will add to the urgency of action, and will serve to
identify victims harmed by
sale of these materials, the purchase of these materials, the authorization for children to play on
these materials and the lag by regulatory agencies in recommending and
enacting a moratorium on artificial turf play fields.

https://www.fdms.gov/fdms/getcontent?objectId=0900006481fa18e6&format=xml&showor... 5/3/2016

Page 2 of 2

Sheldon Fishman
Parents Coalition of Montgomery County Maryland
http://parentscoalitionmc.blogspot.com/

Attachments
Comment_4_29_16_ATSDR_EPA_re_Art_Turf_study

https://www.fdms.gov/fdms/getcontent?objectId=0900006481fa18e6&format=xml&showor... 5/3/2016

	
April	29,	2016	
	
Leroy	A.	Richardson,	Information	Collection	Review	Office	
Centers	for	Disease	Control	and	Prevention	
1600	Clifton	Road	NE.,	MS-D74	
Atlanta,	Georgia	30329.	
	
Federal	eRulemaking	Portal:	Regulation.gov	
	
Re:		Docket	No.	ATSDR-2016-0002		
	
Dear	Mr.	Richardson,	
	
Conducting	additional	research	into	the	health	and	environmental	impacts	synthetic	turf	fields	with	
crumb	rubber	infill	is	essential.		Crumb	Rubber	turf	fields	are	proliferating	quickly	through	
communities	with	schools	and	municipalities	constructing	crumb	rubber	fields	to	accommodate	kids	
playing	sports	of	all	ages	from	elementary	level	on	up.			In	every	instance	school	district	and	town	
officials	cite	industry	funded	research	as	a	primary	demonstration	of	safety.		Inadequate	Government	
documents	are	of	little	help	in	countering	such	assertions	or	information	the	decisionmaking	process	
as,	to	the	degree	they	exist,	they	are	very	limited	in	scope,	they	often	rely	on	industry-provided	
information,	and	they	often	rely	on	an	absence	of	information	as	somehow	supporting	a	
demonstration	of	no	harm.			A	thorough	and	independent	investigation	is	essential	if	we	are	to	protect	
children,	adults	and	the	environment	from	the	harms	of	crumb	rubber	artificial	turf.	
	
The	Delaware	Riverkeeper	Network	would	also	like	to	suggest	that	research	into	the	impacts	of	other	
artificial	turf	infill	materials	is	important	given	that	they	too	are	the	subject	of	a	multitude	of	claims	of	
safety	backed	by	little	but	industry	marketing	materials	and	industry	funded	research.			
	
I	believe	it	will	be	important	to	include	an	organization	like	the	Delaware	Riverkeeper	Network	
among	your	stakeholders.		We	have	had	to	engage	in	significant	research	into,	and	advocacy	about,	
artificial	turf,	its	environmental	and	health	impacts	on	a	number	of	occasions	over	the	past	8+	years.	
As	a	result	we	have	a	significant	and	healthy	understanding	of	the	science	and	the	issues	that	have	
been	and	need	to	be	evaluated.			
	
I	include	with	this	comment	a	series	of	fact	sheets	and	informational	materials	created	by	my	
organization	to	help	inform	local	debates	regarding	the	construction	or	expansion	of	artificial	turf	
DELAWARE RIVERKEEPER NETWORK
925 Canal Street, Suite 3701
Bristol, PA 19007
Office: (215) 369-1188
fax: (215)369-1181
[email protected]
www.delawareriverkeeper.org

fields.		In	these	materials	we	cite	a	number	of	scientific	and	government	materials	that	assess	the	
environmental	and	health	impacts	of	crumb	rubber	artificial	turf.		We	would	like	to	submit	them	for	
the	record	and	your	consideration.	
	
Synthetic	turf	is	generally	made	with	rubber	from	waste	tires.		Recycled	rubber	varies	considerably	in	
its	chemical	composition,	even	when	from	the	same	manufacturer.1		Hazardous	substances	found	in	
tires	may	persist	in	the	environment	including	polycyclic	aromatic	hydrocarbons	(PAHs),	phthalates	
and	certain	metals.		These	substances	may	be	bioaccumulative,	carcinogenic,	reprotoxic,	mutagenic	
and/or	endocrine	disrupting.2			
	
• Most	PAHs	are	persistent,	bioaccumulative	and	carcinogenic.3			
• Phthalates	are	generally	used	as	solvents	and	plasticisers	in	plastics.		Phthalates	are	not	
chemically	bound	to	the	rubber	and	as	a	result	can	leach	from	the	infill	material.4			
• Phenols	likewise	are	not	chemically	bound	to	the	rubber	and	so	can	leach.		Phenols	too	are	
persistent	and	bioaccumulative	and	can	have	long-term	effects	on	the	environment.5			
• Among	the	metals	found	in	tires	that	may	be	of	concern	are	zinc,	lead,	copper,	chromium	and	
cadmium.	While	zinc	and	copper	are	essential	for	living	organisms,	when	absorbed	at	high	
levels	they	become	harmful.		Lead	can	affect	reproduction,	development	of	the	nervous	system	
leading	to	poor	cognitive	development,	and	is	a	particular	threat	to	fetuses	and	young	children.		
Chromium	is	carcinogenic	and	mutagenic.		Cadmium	is	toxic	to	humans	and	if	taken	in	can	
contribute	to	poor	liver	and	kidney	function,	as	well	as	osteoporosis.	6	
	
Playing	on	Artificial	Turf	brings	threats	of	exposure	to	hazardous	substances	through	a	variety	
of	pathways.	
Direct	human	exposure	to	the	hazardous	substances	contained	in	the	rubber	in-fill	of	artificial	turf	is	
believed	to	occur	via	three	pathways:		inhalation,	skin	contact,	and/or	ingestion	including	by	children	
who	come	into	contact	with	the	material.7	
	
A	2012	study	focused	on	the	threat	of	lead	ingestion	from	artificial	turf	noted	that	lead,	in	the	“case	of	
chronic	exposure	in	early	childhood,	can	induce	cell	necrosis,	nerve	behavioral	abnormalities	and	
developmental	disability,	and	in	the	case	of	long-term	exposure	it	can	induce	cell	necrosis,	blood	
pressure,	cancer,	and	kidney	tumor.”8		In	this	study	researchers	considered	the	impacts	for	lead	
exposure	from	children	who	ingest	rubber	powder	resulting	from	exposure	to	crumb	rubber	infill	
artificial	turf.		The	research	showed	elementary	school	children	had	a	hazard	index	that	exceeded	0.1,	

1	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	

December	2005,	p.	7.	
2	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
3	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
4	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
5	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
6	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
7	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
8	Kim,	S.,	Yang,	J.-Y.,	Kim,	H.-H.,	Yeo,	I.-Y.,	Shin,	D.-C.,	&	Lim,	Y.-W.	(2012).	Health	Risk	Assessment	of	Lead	Ingestion	
Exposure	by	Particle	Sizes	in	Crumb	Rubber	on	Artificial	Turf	Considering	Bioavailability.	Environmental	Health	and	
Toxicology,	27,	e2012005.	http://doi.org/10.5620/eht.2012.27.e2012005.	

Page 2 of 12

a	level	that	is	considered	a	“potential	for	hazard”.	9		Middle	and	high	school	children	were	also	found	
to	have	exposure	levels.	
	
In	2011,	research	conducted	for	the	New	Jersey	Department	of	Environmental	Protection	began	
investigation	into	the	potential	for	players	on	artificial	turf	fields	to	be	exposed	to	lead,	chromium,	
arsenic	and	cadmium	as	a	respirable/inhalable	aerosol.10		In	air	samples	collected	from	the	turf	
during	various	levels	of	activity,	researchers	detected	arsenic,	cadmium,	chromium	and	lead,	all	
metals	with	known	human	toxicity.	11		“The	findings	of	this	study,	although	limited	in	scope,	raise	
some	concerns	with	regard	to	the	potential	hazards	that	may	exist	for	individuals	and	in	particular	
children	who	engage	in	sports	activities	on	artificial	turf	fields.”	12			The	research	demonstrated	that	
activity	by	players	on	the	fields	could	suspend	contaminated	particulates	into	the	air	that	could	be	
inhaled.		“The	findings	show	that	both	inhalable	PM	[particulate	matter],	as	well	as	inhalable	lead	
(when	present)	are	resuspended	from	even	minor	physical	activity	on	an	artificial	surface.		These	data	
therefore	indicates	that	human	exposure	from	lead-containing	artificial	turf	fields	is	not	just	limited	to	
dermal,	but	also	to	inhalation	route	of	exposure.”	13		The	three	potential	avenues	for	lead	from	
artificial	turf	are	the	blades	of	artificial	grass,	the	pigment	used	for	the	field	markings	and	lines,	and	
the	infill	material.			Even	studies	that	have	not	found	exposure	levels	to	lead	high	enough	to	be	of	
concern	in	the	context	of	the	study	conducted	are	careful	to	point	out:	“some	health	scientists	believe	
that	any	Pb	[lead]	is	harmful	to	children’s	neurocognitive	development,	and	that	no	new	Pb	should	be	
added	to	their	surroundings”14	and	that	“…physicians	should	be	aware	of	synthetic	turf	as	pone	
potential	source	of	exposure	for	young	children.		Health	officials	investigating	elevated	blood	lead	in	
children	should	also	be	aware	of	synthetic	turf	as	a	potential	source	of	lead	exposure.”15	
	
Furthermore,	a	2008	study	that	looked	at	a	variety	of	contaminants	associated	with	artificial	turf	did	
find	that	the	lead	present	in	the	rubber	granules,	while	at	low	levels,	was	“highly	bioaccessible”	to	
synthetic	gastric	fluid	used	in	their	research.			This	study	also	found	a	“slightly	worrisome”	level	of	
chromium	in	an	artificial	turf	fiber	sample	and	“high	bioaccessible	fractions	of	lead	in	both	synthetic	
gastric	and	intestinal	fluids.16	
			
9	Kim,	S.,	Yang,	J.-Y.,	Kim,	H.-H.,	Yeo,	I.-Y.,	Shin,	D.-C.,	&	Lim,	Y.-W.	(2012).	Health	Risk	Assessment	of	Lead	Ingestion	

Exposure	by	Particle	Sizes	in	Crumb	Rubber	on	Artificial	Turf	Considering	Bioavailability.	Environmental	Health	and	
Toxicology,	27,	e2012005.	http://doi.org/10.5620/eht.2012.27.e2012005.	
10	S.L.	Shalat,	Sc.D.,	“An	Evaluation	of	Potential	Exposures	to	Lead	and	Other	Metals	as	the	Result	of	Aerosolized	Particulate	
Matter	from	Artificial	Turf	Playing	Fields,	Final	Report”,	submitted	to	NJ	Department	of	Environmental	Protection,	July	14,	
2011.	
11	S.L.	Shalat,	Sc.D.,	“An	Evaluation	of	Potential	Exposures	to	Lead	and	Other	Metals	as	the	Result	of	Aerosolized	Particulate	
Matter	from	Artificial	Turf	Playing	Fields,	Final	Report”,	submitted	to	NJ	Department	of	Environmental	Protection,	July	14,	
2011.	
12	S.L.	Shalat,	Sc.D.,	“An	Evaluation	of	Potential	Exposures	to	Lead	and	Other	Metals	as	the	Result	of	Aerosolized	Particulate	
Matter	from	Artificial	Turf	Playing	Fields,	Final	Report”,	submitted	to	NJ	Department	of	Environmental	Protection,	July	14,	
2011.	
13	S.L.	Shalat,	Sc.D.,	“An	Evaluation	of	Potential	Exposures	to	Lead	and	Other	Metals	as	the	Result	of	Aerosolized	Particulate	
Matter	from	Artificial	Turf	Playing	Fields,	Final	Report”,	submitted	to	NJ	Department	of	Environmental	Protection,	July	14,	
2011.	
14
J.	Zhang,	I.	Han,	L.	Zhang,	W.	Crain,	“Hazardous	Chemicals	in	synthetic	turf	materials	and	their	bioaccessibility	in	
digestive	fluids,”	Journal	of	Exposure	Science	and	Environmental	Epidemiology	(2008)	
15	G.	Van	Ulirsch	et.	al,	Evaluating	and	Regulating	Lead	in	Synthetic	Turf,	Commentary,	Environmental	Health	Perspectives,	
Vol	118,	No.	10,	Oct.	2010.	
16
J.	Zhang,	I.	Han,	L.	Zhang,	W.	Crain,	“Hazardous	Chemicals	in	synthetic	turf	materials	and	their	bioaccessibility	in	
digestive	fluids,”	Journal	of	Exposure	Science	and	Environmental	Epidemiology	(2008)	

Page 3 of 12

In	October	2006	and	January	2007,	respectively,	two	sites	in	New	York	where	synthetic	turf	has	been	
used	(a	large,	then	3	year	old,	Parade	Ground	in	Brooklyn;	a	relatively	small	then	5	month	old	Sara	D.	
Roosevelt	Park	in	Manhattan)	were	analyzed.		This	testing	found	PAHs	at	hazardous	levels	(as	per	
New	York	standards)	at	each	of	the	sites.		At	both	sites	dibenzo	(a.h)anthracene,	a	probable	human	
carcinogen,	was	found	at	hazardous	levels,	with	two	other	PAH	forms,	both	possible	human	
carcinogens,	found	at	hazardous	levels	at	the	Parade	Ground	site.			A	2008	study	also	found	that	the	
rubber	granules	found	in	artificial	turf	fields	had	PAH	levels	above	health-based	soil	standards,	that	
there	was	“low”	but	not	“no”	bioaccessibility,	and	that	while	levels	appear	to	decline	over	time	this	
can	be	altered	by	the	fact	that	new	rubber	can	be	added	periodically	to	compensate	for	the	loss	of	
infill	material.17	Additional	research	is	needed	into	the	pathways	by	which	these	substances	may	be	
absorbed	into	the	bodies	of	children	and	athletes	via	skin	contact,	ingestion	or	other	pathways18	-	but	
the	need	for	additional	research	does	not	displace	the	concerns	raised	by	these	findings.	
	
Analyses	conducted	at	the	Environmental	and	Occupational	Health	Sciences	Institute	of	Rutgers	
University	found	the	crumb	rubber	from	artificial	turf	to	contain	high	levels	of	PAHs,	as	well	as	zinc	
and	arsenic.19		PAHs	found	to	be	contained	in	the	crumb	rubber	“were	above	the	concentration	levels	
that	the	New	York	State	Department	of	Environmental	Conservation	(DEC)	considers	sufficiently	
hazardous	to	public	health	to	require	their	removal	from	contaminated	soil	sites.	It	is	highly	likely	
that	all	six	PAHs	are	carcinogenic	to	humans.”	20			“The	analyses	also	revealed	levels	of	zinc	in	both	
samples	that	exceed	the	DEC's	tolerable	levels.”	21			The	researchers	associated	with	these	findings	
were	careful	to	state	“We	want	to	emphasize	that	the	findings	are	preliminary.	PAHs	in	rubber	might	
not	act	the	same	way	as	in	soil,	and	we	do	not	yet	have	information	on	the	ease	with	which	the	PAHs	
in	these	rubber	particles	might	be	absorbed	by	children	or	adults	--	by	ingestion,	inhalation,	or	
absorption	through	the	skin.	However,	the	findings	are	worrisome.	Until	more	is	known,	it	wouldn't	
be	prudent	to	install	the	synthetic	turf	in	any	more	parks.”	22	
	

J.	Zhang,	I.	Han,	L.	Zhang,	W.	Crain,	“Hazardous	Chemicals	in	synthetic	turf	materials	and	their	bioaccessibility	in	
digestive	fluids,”	Journal	of	Exposure	Science	and	Environmental	Epidemiology	(2008)	
18	Rachel’s’	Democracy	&	Health	News	#992,	Hazardous	Chemicals	in	Synthetic	Turf,	Follow-up	Analyses,	April	12,	2007.	
19	Junfeng	Zhang,	professor	and	acting	chair,	Department	of	Environmental	and	Occupational	Health,		
the	School	of	Public	Health,	the	University	of	Medicine	and	Dentistry	of	New	Jersey	and	Rutgers	University	&	William	
Crain,	professor	of	psychology	at	The	City	College	of	New	York,	president	of	Citizens	for	a	Green	Riverside	Park,		
Hazardous	Chemicals	in	Synthetic	Turf,	2006,	analyses	conducted	at		at	the	Environmental	and	Occupational	Health	
Sciences	Institute	of	Rutgers.	
20	Junfeng	Zhang,	professor	and	acting	chair,	Department	of	Environmental	and	Occupational	Health,		
the	School	of	Public	Health,	the	University	of	Medicine	and	Dentistry	of	New	Jersey	and	Rutgers	University	&	William	
Crain,	professor	of	psychology	at	The	City	College	of	New	York,	president	of	Citizens	for	a	Green	Riverside	Park,		
Hazardous	Chemicals	in	Synthetic	Turf,	2006,	analyses	conducted	at		at	the	Environmental	and	Occupational	Health	
Sciences	Institute	of	Rutgers.	
21	Junfeng	Zhang,	professor	and	acting	chair,	Department	of	Environmental	and	Occupational	Health,		
the	School	of	Public	Health,	the	University	of	Medicine	and	Dentistry	of	New	Jersey	and	Rutgers	University	&	William	
Crain,	professor	of	psychology	at	The	City	College	of	New	York,	president	of	Citizens	for	a	Green	Riverside	Park,		
Hazardous	Chemicals	in	Synthetic	Turf,	2006,	analyses	conducted	at		at	the	Environmental	and	Occupational	Health	
Sciences	Institute	of	Rutgers.	
22	Junfeng	Zhang,	professor	and	acting	chair,	Department	of	Environmental	and	Occupational	Health,		
the	School	of	Public	Health,	the	University	of	Medicine	and	Dentistry	of	New	Jersey	and	Rutgers	University	&	William	
Crain,	professor	of	psychology	at	The	City	College	of	New	York,	president	of	Citizens	for	a	Green	Riverside	Park,		
Hazardous	Chemicals	in	Synthetic	Turf,	2006,	analyses	conducted	at		at	the	Environmental	and	Occupational	Health	
Sciences	Institute	of	Rutgers.	
17

Page 4 of 12

A	study	by	the	California	Office	of	Environmental	Health	Hazard	Assessment	(OEHHA)	summarized	
46	studies	that	identified	49	chemicals	which	are	released	from	tire	crumb.	Of	the	49,	“seven	of	the	
chemicals	leached	from	tire	shreds	were	carcinogens.		OEHHA	calculated	a	cancer	risk	of	1.2	in	10	
million	based	on	a	one-time	ingestion	of	the	tire	crumb	rubber	over	a	lifetime.”23		While	there	are	
limited	studies	which	assert	that	recycled	tire	crumb	are	stable	in	the	gastrointestinal	tract	and	that	
therefore	this	is	not	a	pathway	for	exposure,	there	are	other	studies	which	contradict	these	findings.24	
	
Concerns	have	been	raised	about	the	potential	implications	of	recycled	tire	in-fill	for	individuals	with	
latex	allergies	and	that	inhalation	could	result	in	a	systemic	response,	as	opposed	to	a	contact	
response.25			
	
Asserted	one	analysis,	while,	“the	status	of	the	information	about	human	exposures	to	recycled	tire	
crumb	rubber	in-fill	…	is	not	sufficient	to	determine	the	safety	of	the	use	of	the	product	in	situations	
that	involve	continuous	episodes	of	human	exposure;”	26	“the	available	information	is	sufficient	and	
strong	enough	to	raise	plausible	questions	with	respect	to	acute	toxicity	for	susceptible	persons,	and	
for	cancer	risks.”27			
	
Chrysene,	a	PAH	and	carcinogen,	was	found	to	be	ingested	as	the	result	of	hand-to-surface-to-mouth	
transfer	from	playground	surfaces	made	with	recycled	tires.		Assuming	playground	use	for	an	11	year	
period	(from	age	1	to	12)	there	was	found	to	be	an	increased	cancer	risk	of	2.9	in	one	million		
(2.9	X	10-6).		This	risk	is	greater	than	the	general	cancer	risk	gauge	of	one	in	one	million	(1X10-6).28		
This	research	would	seem	to	suggest	that	repeat	exposure	over	time	to	the	chemicals	released	from	
artificial	turf	increases	the	associated	increase	in	cancer	risk.	
	
The	hot	temperatures	create	additional	concern	for	exposing	players	to	dangerous	toxins.		As	well	
explained	by	a	well	cited	petition	to	the	Consumer	Product	Safety	Commission	for	rulemaking:		“When	
tires	are	shredded	and	pulverized,	their	surface	area	increases	exponentially,	as	does	the	particulate	
and	gas	yield	from	the	tire	material.		Since	tires	are	made	of	very	harmful	materials,	including	24	
gases	found	to	be	harmful	to	humans,	carbon	black,	(a	carcinogen	which	makes	up	30%	of	tires),	latex,	
benzothiazoles,	phthalates,	lead,	mercury,	cadmium,	zinc	and	many	other	known	toxins,	when	the	
fields	heat	up,	they	become	increasingly	dynamic.		Of	primary	concern	is	the	interaction	of	particles	
and	gases,	‘because	when	particles	adsorb	onto	the	surface	of	gases,	they	become	10-20	times	more	
toxic	than	the	materials	themselves.’	The	fields	yield	continuously,	but	become	more	dynamic	and	
more	toxic	as	they	heat	up.”29	
	
A	Case	Study	conducted	by	a	group	of	“physicians	and	public	health	professionals	working	with	the	
U.S.	Environmental	Protection	Agency’s	Region	Pediatric	Environmental	Health	Specialty	Unit”	found	
23	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007	citing	California	Office	of	

Environmental	Health	Hazard	Assessment	(OEHHA),	Evaluation	of	Health	Effects	of	Recycled	Waste	Tires	in	Playground	
and	Track	Products,	January,	2007.	
24	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
25	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
26	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
27	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
28	Office	of	Environmental	Health	Hazard	Assessment,	Evaluation	of	Health	Effects	of	Recycled	Waste	Tires	in	Playground	
and	Track	Products,	January	2007.	Note	--	the	1.2	in	10	million	cancer	risk	found	in	the	OEHHA	study	was	considered	by	
the	authors	to	be	an	acceptable	level	of	risk	as	it	falls	below	the	general	cancer	risk	gauge	of	one	in	one	million	(1X10-6).	
29	Petition	for	a	Rulemaking	on	Surface	Heat	from	Artificial	Turf,	Submitted	by	PEER	to	Consumer	Product	Safety	
Commission,	Sept	6,	2012.	

Page 5 of 12

that	they	could	not	secure	the	research	and	information	necessary	to	establish	the	safety	in	use	with	
children	of	tire	crumb	used	as	playground	surface.30		“The	use	of	recycled	tire	crumb	products	on	
playgrounds	has	had	little	health	investigation.		The	major	unresolved	concern	is	the	potential	for	
latex	allergy	with	short-term	dermal	exposure.”	31		“No	published	information	is	available	specifically	
regarding	exposure	to	crumb	rubber	constituents	from	use	of	the	product	on	playgrounds.”	32	
	
Excessive	heat	is	a	major	health	threat	for	those	that	play	on	artificial	turf.			
Extreme	heat	is	a	health	concern	–	high	surface	temperatures	found	on	artificial	turf	fields	can	
contribute	to	physiological	stress	and	cause	“serious	heat-related	illnesses”.33		Heat	stress,	heat	stroke	
and	burns	are	all	of	concern.		In	fact,	the	“New	York	City	Department	of	Health	and	Mental	Hygiene	
recognizes	excessive	surface	temperatures	as	the	most	important	health	concern	associated	with	
infilled	synthetic	turf.”	34		Studies	document	that	the	surface	temperature	on	artificial	turf	is	
dramatically	increased	as	compared	to	surrounding	land	uses	including	asphalt	–	so	much	so	that	it	is	
a	genuine	health	threat	for	players.					
	
Concerns	regarding	the	excessive	temperatures	range	from	the	implications	for	players	who	are	
already	exerting	themselves	playing	in	such	excessively	high	temperatures,	to	the	implications	for	
burns	when	players	or	pedestrians	come	into	contact	with	the	hot	surfaces,	to	the	implications	for	
small	children	who	may	come	into	contact	with	the	extremely	hot	surfaces	during	non-sporting	
events.		Research	has	also	concluded	that	the	“heat	transfer	from	the	surface	to	the	sole	of	the	
individual’s	foot”	could	contribute	to	physiological	stress	of	players.	35	
	
In	a	2002	study	it	was	found	that	“the	surface	temperature	of	the	synthetic	turf	was	37°	F	higher	than	
asphalt	and	86.5°	F	hotter	than	natural	turf.”	36		A	study	published	in	the	Journal	of	Health	and	
Physical	Education	and	Recreation	showed	“surface	temperatures	as	much	as	95	to	140	degrees	
Fahrenheit	higher	on	synthetic	turf	than	natural	turf	grass	when	exposed	to	sunlight.”	37		Random	
sampling	at	Brigham	Young	University	identified	temperatures	ranging	from	117.38	to	157	degrees	
on	artificial	turf	while	neighboring	natural	grass	areas	were	in	the	range	of	78.19	to	88.5	degrees	
Fahrenheit.		“Two	inches	below	the	synthetic	turf	surface	was	28.5°	F	hotter	than	natural	turf	at	the	
surface.”38	Another	study	comparing	temperatures	on	artificial	turf	temperatures	with	air	
temperature	found	that	artificial	turf	ranged	from	58	to	75	degrees	hotter	than	measured	air	
temperature.39		And	yet	another	study	considering	found	ranges	of	155.3	to	173.4	degrees	on	the	turf	
30	M.E.	Anderson	et	al,	A	Case	Study	of	tire	Crumb	Use	on	Playgrounds:		Risk	Analysis	and	Communication	When	Major	

Clinical	Knowledge	Gaps	Exist,	Environmental	Health	Perspectives,	Vol	114,	No.	1,	January	2006.	
31	M.E.	Anderson	et	al,	A	Case	Study	of	tire	Crumb	Use	on	Playgrounds:		Risk	Analysis	and	Communication	When	Major	
Clinical	Knowledge	Gaps	Exist,	Environmental	Health	Perspectives,	Vol	114,	No.	1,	January	2006.	
32	M.E.	Anderson	et	al,	A	Case	Study	of	tire	Crumb	Use	on	Playgrounds:		Risk	Analysis	and	Communication	When	Major	
Clinical	Knowledge	Gaps	Exist,	Environmental	Health	Perspectives,	Vol	114,	No.	1,	January	2006.	
33
T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
34
T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
35
T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
36	Dr.	C.	Frank	Williams	and	Dr.	Gilbert	E.	Pulley,	Synthetic	Surface	Heat	Studies,	Brigham	Young	University.	
37	SportsTurf	Managers	Association,	A	Guide	to	Synthetic	and	natural	Turfgrass	for	Sports	Fields,	Selection,	Construction	
and	Maintenance	Considerations.			
38	Dr.	C.	Frank	Williams	and	Dr.	Gilbert	E.	Pulley,	Synthetic	Surface	Heat	Studies,	Brigham	Young	University.	
39	T.	Sciacca,	The	Thermal	Physics	of	Artificial	Turf,	January	2008.	

Page 6 of 12

fields	when	air	temperatures	were	in	the	76	degree	range;	and	104.2	to	159.3	degrees	when	air	
temperatures	were	in	the	77	degree	range.	40			
	
Research	has	not	found	good	solutions	for	the	excessive	heat	levels	of	turf.		Irrigation	of	excessively	
hot	artificial	turf	surfaces	only	provides	cooling	benefits	for	about	20	minutes.	41		While	irrigation	
provides	cooling	for	the	synthetic	turf,	in	one	seminal	study	lowering	the	temperature	from	174°	F	to	
85°	F,	after	only	5	minutes	the	temperature	quickly	rose	again	to	120°F;	after	20	minutes	it	rose	to	
164°F.42		In	another	important	body	of	work	by	Penn	State,	it	was	found	again	that	irrigation	is	only	
successful	in	reducing	temperatures	for	about	20	minutes,	with	a	rebound	to	within	10	degrees	of	the	
pre-irrigation	temperature	within	3	hours.	43		The	use	of	white	crumb	rubber	as	the	infill	does	not	
resolve	the	heat	issue.	44		In	fact,	according	to	Penn	State	as	part	of	a	study	which	looked	at	various	
color	options	for	infill	and	temperature,	“[w]hile	marketing	materials	may	claim	lower	surface	
temperatures,	no	scientific	reports	exist	that	substantiate	such	claims.”45	
	
Natural	grass,	by	comparison,	provides	a	natural	cooling	affect	and	helps	to	dissipate	heat	from	
neighboring	developed	areas.46		“The	temperature	of	natural	grass	rarely	rises	above	85	degrees	
Fahrenheit,	regardless	of	air	temperature.”	47	
	
The	heat	impacts	of	artificial	turf	need	to	be	considered	in	the	context	of	today’s	changing	climate.		
Global	climate	change	is	expected	to	dramatically	increase	the	number	of	days	over	100	degrees	in	
many	communities.		Depending	on	how	aggressively	global	warming	gasses	are	reduced	in	coming	
years,	communities	nearby	Philadelphia	will	begin	to	experience	in	the	range	of	10	days	(in	lower	
emission	scenarios)	to	30	days	(if	higher	emission	scenarios	continue	to	prevail)	over	100	degrees.48		
By	later	in	this	century	seasonable	temperatures	are	projected	to	rise	6oF	to	14oF	in	summer	
(depending	again	on	emission	reductions	achieved	in	the	future).	49			
	
Concerns	for	increased	head	injuries	and	bacterial	infections	as	the	result	of	playing	on	turf	
are	justified.	
There	is	great	concern	that	the	increased	level	of	abrasions	and	burns	which	result	from	playing	on	an	
artificial	turf	field	as	compared	to	natural	grass	increases	the	pathways	by	which	bacterial	infections,	
such	as	MRSA	(methicillin-resistant	staphylococcus	aureus),	can	enter	the	body.		As	explained	in	a	
2011	Penn	State	study,	“It	is	important	to	note	that	synthetic	turf	is	more	abrasive	than	natural	turf	
grass	and,	as	a	result,	breaks	in	the	skin	are	more	common,	creating	a	pathway	for	infection	when	in	
40	Penn	State’s	Center	for	Sports	Surface	Research,	Synthetic	Turf	Heat	Evaluation	–	Progress	Report,	January	2012.	

T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
42	Dr.	C.	Frank	Williams	and	Dr.	Gilbert	E.	Pulley,	Synthetic	Surface	Heat	Studies,	Brigham	Young	University.	
43
T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
44
T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
45	Penn	State’s	Center	for	Sports	Surface	Research,	Synthetic	Turf	Heat	Evaluation	–	Progress	Report,	January	2012.	
46	James	B.	Beard	&	Robert	L.	Green,	The	Role	of	Turfgrasses	in	Environmental	Protection	and	Their	Benefits	to	Humans,	J.	
Environ	Qual.	23:452-460	(1994).	
47	SportsTurf	Managers	Association,	A	Guide	to	Synthetic	and	natural	Turfgrass	for	Sports	Fields,	Selection,	Construction	
and	Maintenance	Considerations.			
48	Union	of	Concerned	Scientists,	Confronting	Climate	Change	in	the	U.S.	Northeast	l	New	Jersey,	2007.	
49	Union	of	Concerned	Scientists,	Confronting	Climate	Change	in	the	U.S.	Northeast	l	New	Jersey,	2007.	
41

Page 7 of 12

contact	with	an	infected	surface.”	50		There	are	studies	to	indicate	that	turf	burns	may	be	facilitating	
infection	by	acting	as	a	pathway	for	infection.51		Study	has	found	that	turf	burns	increased	the	risk	of	
infection	regardless	of	the	type	and	timing	of	care	provided	the	burn.	52	
	
Older	turf	fields	have	been	found	to	have	higher	microbial	populations,	as	well	as	higher	levels	in	the	
higher	traffic	areas	such	as	the	sidelines,	thereby	suggesting	to	researchers	that	microbial	populations	
can	accumulate	in	synthetic	turf	over	time.53	
	
Concussions	(formally	described	as	Mild	Traumatic	Brain	Injury	or	MTBI)	resulting	from	sports	has,	
according	to	the	US	Centers	for	Disease	Control,	reached	“epidemic	proportions.”54		“’Mild’	head	
traumas,	and	especially	a	series	of	such	minor	concussions	can	have	long	term,	negative	effects	on	
cognitive	function.”	55		Study	has	documented	that	artificial	turf	increases	the	risk	of	MTBI	over	
natural	turf,	approximately	doubling	that	risk,	as	well	as	causing	a	greater	degree	of	trauma.56		
According	to	study,	artificial	turf	presents	a	5	times	greater	risk	of	the	more	severe	head	injury	than	
natural	turf,	although	it	is	still	unknown	the	particular	characteristics	of	the	two	surfaces	that	cause	
the	difference	in	head	injury	incidence.	57			Only	31%	of	the	playground	surfaces	made	of	recycled	
tires	tested	in	one	research	study	passed	the	California	State	mandated	Head	Impact	Criterion	(HIC)	
of	<1,000.		In	this	same	study	100%	of	the	playground	surfaces	made	of	wood	chips	passed	the	same	
standard.	58	
	
Research	shows	there	are	adverse	environmental	impacts	resulting	from	crumb	rubber	infill	
artificial	turf;	it	is	also	clear	that	additional	study	for	water	and	other	natural	resources	is	
needed.	
While	it	seems	well	recognized	that	there	is	a	limited	level	of	assessment	and	investigation	into	the	
environmental	impacts	associated	with	artificial	turf,	a	growing	body	of	scientific	analysis	is	

T.J.	Serensits,	A.S.	McNitt,	D.M.	Petrunak; Human	health	issues	on	synthetic	turf	in	the	USA,	Dept	of	Crop	and	Soil	
Sciences,	The	Pennsylvania	State	University,	IMechE	Vol	225	Part	P:	J.	Sports	Engineering	&	Technology,	Jan	6,	2011.	
51	A	High	Morbidity	Outbreak	of	Methicillin-Resistant	Staphylococcus	aureus	among	Players	on	a	College	Football	Team,	
Facilitated	by	Cosmetic	Body	Shaving	and	Turf	Burns,	study	conducted	2004	for	Connecticut	Dept	of	Public	Health,	
Student	Health	Services	of	Sacred	Heart	Univ,	Centers	for	Disease	Control	and	Prevention,	Minnesota	Dept	of	Public	
Health,	Los	Angeles	County	Dept	of	Health	Svces;	Dr.	S.V.	Kazakova	et.al.,	A	Clone	of	Methicillin-Resistant	Staphylococcus	
aureus	among	Professional	Football	Players,	The	New	England	Journal	of	Medicine,	Vol	352:468-475	No.	5,	Feb.	3,	2005.	
52	A	High	Morbidity	Outbreak	of	Methicillin-Resistant	Staphylococcus	aureus	among	Players	on	a	College	Football	Team,	
Facilitated	by	Cosmetic	Body	Shaving	and	Turf	Burns,	study	conducted	2004	for	Connecticut	Dept	of	Public	Health,	
Student	Health	Services	of	Sacred	Heart	Univ,	Centers	for	Disease	Control	and	Prevention,	Minnesota	Dept	of	Public	
Health,	Los	Angeles	County	Dept	of	Health	Svces.	
53	J.J.	Bass,	D.W.	Hintze,	(2013)	“Determination	of	Microbial	Populations	in	a	Synthetic	Turf	System,”	Skyline	–	The	Big	Sky	
Undergraduate	Journal,	Vol.	1,	Iss.	1,	Art.	1.	
54	Dr.	M.	Shorten,	J.A.	Himmelsbach,	BioiMechanica,	Sports	Surfaces	and	the	Risk	of	Traumatic	Brain	Injury	citing	the	US	
Centers	for	Disease	Control.	
55	Dr.	M.	Shorten,	J.A.	Himmelsbach,	BioiMechanica,	Sports	Surfaces	and	the	Risk	of	Traumatic	Brain	Injury.	
56	Dr.	M.	Shorten,	J.A.	Himmelsbach,	BioiMechanica,	Sports	Surfaces	and	the	Risk	of	Traumatic	Brain	Injury.	
57	Dr.	M.	Shorten,	J.A.	Himmelsbach,	BioiMechanica,	Sports	Surfaces	and	the	Risk	of	Traumatic	Brain	Injury.		See	also	K.M.	
Guskiewica,	N.L.	Weaver,	D.A.	Padua,	W.E.	Garrett	Jr.,	Epidemiology	of	Concussion	in	Collegiate	and	High	School	Football	
Players,	Sep-Oct	2000	&	Does	the	Use	of	Artificial	Turf	Contribute	to	Head	Injuries,	The	Journal	of	Trauma-Injury,	Infection	
and	Critical	Care,	Oct	2002	for	the	finding	that	artificial	turf	increases	the	level	of	injury	in	comparison	to	natural	grass	
fields.	
58	Office	of	Environmental	Health	Hazard	Assessment,	Evaluation	of	Health	Effects	of	Recycled	Waste	Tires	in	Playground	
and	Track	Products,	January	2007.	Please	note	that	in	this	study	32	recycled	tire	playground	surfaces	were	tested	as	
compared	to	only	5	wood	chip	playground	surfaces.	
50

Page 8 of 12

documenting	a	concerning	level	of	environmental	threat	and	harm	and	is	further	demonstrating	the	
need	for	more	research	regarding	artificial	turf	and	its	ramifications	for	the	environment.	
	
The	Connecticut	Agricultural	Experiment	Station	conclusively	found	four	compounds	which	outgassed	and	leached	into	water	from	synthetic	turf	rubber	crumb	under	ambient	temperatures:			
Ø Benzothiazole	(a	skin	and	eye	irritant),		
Ø Butylated	hydroxyanisole	(a	“recognized	carcinogen,	suspected	endocrine	toxicant,	
gastrointestinal	toxicant,	immune	toxicant,	neurotoxicant,	skin	and	sense-organ	toxicant”),		
Ø n-hexadecane	(a	severe	irritant)	&		
Ø 4-(t-octyl)	phenol	(“corrosive	and	destructive	to	mucous	membranes”).59			
	
As	rubber	degrades	it	can	leach	toxic	substances	which	can	contaminate	soil,	plants	and	aquatic	
ecosystems.60		Study	has	concluded	that	the	use	of	tires	in	artificial	turf	has	the	potential	to	pollute	
our	environment	with	PAHs,	phenols	and	zinc61	and	that	runoff	from	an	artificial	turf	field	draining	to	
a	local	creek	can	pose	“a	positive	risk	of	toxic	effects	on	biota	in	the	water	phase	and	in	the	
sediment.”62		Other	metal	contaminants	found	to	leach	from	tire	crumb	rubber	include	zinc,	selenium,	
lead	and	cadmium.63		Zinc	has	also	been	shown	to	leach	from	the	artificial	turf	fibers.64		Extreme	
temperatures	or	solvents	are	not	needed	to	release	these	metals,	volatile	organic	compounds	or	semivolatile	organic	compounds	from	the	rubber	in-fill	of	artificial	turf	into	the	air	or	water	–	release	takes	
place	in	ambient	air	and	water	temperatures.65	
		
“Runoff	with	high	Zn	[zinc]	from	synthetic	turf	fields	may	produce	adverse	effects	to	plants	and	
aquatic	life.		This	is	of	particular	concern	given	that	the	leaching	rate	of	Zn	[zinc]	from	rubber	
granules	can	be	up	to	20	times	greater	than	the	leaching	rate	of	Zn	from	agricultural	applications	of	
manure	and	pesticides.”66		Leaching	of	substances	as	the	result	of	surface	water	runoff	from	
precipitation	has,	by	some	researchers,	been	predicted	to	be	the	greatest	risk	for	the	environment	
from	artificial	turf.	67				Study	shows	there	is	a	risk	of	local	effects	for	aquatic	and	sediment	dwelling	

59	The	Connecticut	Agricultural	Experiment	Station,	Examination	of	Crumb	Rubber	Produced	from	Recycled	Tires,	August	

2007;	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	

60	Quoting	Dr.	Linda	Chalker-Scott,	Washington	State	University	--	Turfgrass	Resource	Center,	Facts	About	Artificial	Turf	

and	Natural	Grass;	T.	Kallqvist,	Norwegian	Institute	for	Water	Research(NIVA),	Environmental	Risk	Assessment	of	
Artificial	Turf	Systems,	December	2005,	p.	17.;	Connecticut	Agricultural	Experiment	Station,	Examination	of	Crumb	
Rubber	Produced	from	Recycled	Tires.	
61	T.	Kallqvist,	Norwegian	Institute	for	Water	Research(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	5;	T.	Edeskar,	Lulea	University	of	Technology,	Technical	and	Environmental	Properties	of	Tyre	Shreds	
Focusing	on	Ground	Engineer	Application,	2004	as	cited	in	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	
2007.	
62	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	6.	
63Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
64	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	17.	
65	Environment	&	Human	Health,	Inc.,	Artificial	Turf,	Exposures	to	Ground-Up	Rubber	Tires,	2007.	
66	J.	Zhang,	I.	Han,	L.	Zhang,	W.	Crain,	“Hazardous	Chemicals	in	synthetic	turf	materials	and	their	bioaccessibility	in	
digestive	fluids,”	Journal	of	Exposure	Science	and	Environmental	Epidemiology	(2008)	
67	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	5;	NIVA	(The	Norwegian	Institute	for	Water	Research),	Evaluation	of	the	Environmental	Risks	of	
Synthetic	Turf,	2005;	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	

Page 9 of 12

organisms	in	impacted	water	courses.	68		Recycled	rubber,	and	associated	leachate,	has	been	found	to	
contain	a	variety	of	metals	(including	lead,	cadmium,	copper,	mercury	and	zinc),	as	well	as	organic	
pollutants	such	as	PAHs,	phthalates,	4-t-octylphenol	and	iso-nonyphenol.	69		The	leaching	of	zinc	has	
been	determined	to	be	of	major	environmental	concern.70		The	leaching	of	zinc	increases	as	the	
rubber	infill	weathers	over	time,71	it	is	likely	this	is	the	same	for	other	contaminants.		While	Zinc	
contributes	the	most	risk,	phenols	(specifically	octylphenol)	and	PAHs	are	also	of	concern.	72		Of	the	
organic	compounds	at	issue,	Octylphenol	represents	the	greatest	risk,	and	possibly	could	occur	at	
levels	where	hormone	disrupting	effects	are	a	concern.	73		The	varying	content	of	tires	makes	this	
threat	a	moving	target.			
	
The	Norwegian	Institute	for	Water	Research	has	determined	that	it	is	“appropriate	to	perform	a	risk	
assessment	which	covers	water	and	sediments	in	watercourses	which	receive	run-off	from	artificial	
turf	pitches.”74	
	
While	recycled	rubber	is	a	greater	source	of	pollution,	newly	manufactured	rubber	also	contains	
levels	of	hazardous	substances;	in	the	case	of	zinc	and	chromium	the	levels	of	recycled	and	newly	
manufactured	rubber	are	comparable.75	
	
It	is	predicted	that	chemicals	leaching	from	synthetic	turf	materials	occurs	slowly,	and	as	a	result	the	
environmental	harms	may	take	place	over	many	years.76				
	
Leaching	may	not	be	the	only	source	of	water	contamination	from	artificial	turf.		As	the	artificial	turf	
is	used	there	is	a	level	of	“erosion”	that	takes	place	and	can	result	in	fine	particles	that	could	be	
carried	to	local	waterways.		This	source	of	contamination	needs	study.77	
	
The	synthetic	grass	fibers	can	also	be	a	significant	source	of	pollution,	particularly	zinc,	albeit	
significantly	lesser	amounts	leach	from	the	synthetic	grass	than	the	rubber	infill.78				
68	T.	Kallqvist,	Norwegian	Institute	for	Water	Research(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	

December	2005,	p.	5;	NIVA	(The	Norwegian	Institute	for	Water	Research),	Evaluation	of	the	Environmental	Risks	of	
Synthetic	Turf,	2005,	as	cited	by	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007;	KEM,	Swedish	
Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007	
69	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	7.	
70	INTRON,	Environmental	and	Health	Risks	of	Rubber	Infill,	rubber	crumb	from	car	tyres	as	infill	on	artificial	turf,	
February	9,	2007.			
71	INTRON,	Environmental	and	Health	Risks	of	Rubber	Infill,	rubber	crumb	from	car	tyres	as	infill	on	artificial	turf,	
February	9,	2007.			
72	NIVA	(The	Norwegian	Institute	for	Water	Research),	Evaluation	of	the	Environmental	Risks	of	Synthetic	Turf,	2005,	as	
cited	by	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
73	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	17.	
74	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	8.	
75	Byggforsk,	SINTEF	Building	and	Infrastructure,	Potential	Health	and	Environmental	Effects	Associated	with	Synthetic	
Turn	Systems,	2004,	as	referenced	in	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
76	T.	Kallqvist,	Norwegian	Institute	for	Water	Research(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	5;	NIVA	(The	Norwegian	Institute	for	Water	Research),	Evaluation	of	the	Environmental	Risks	of	
Synthetic	Turf,	2005,	as	cited	by	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
77	T.	Kallqvist,	Norwegian	Institute	for	Water	Research	(NIVA),	Environmental	Risk	Assessment	of	Artificial	Turf	Systems,	
December	2005,	p.	18.	

Page 10 of 12

	
When	talking	about	the	use	of	ground	rubber	as	a	supplement	to	planting	soils	the	North	Carolina	
Department	of	Agriculture	and	Consumer	Services	sent	out	a	notice	identifying	the	risk	that	zinc	
leaching	from	the	rubber	causes	a	decline	in	plant	growth	“directly	attributable	to	zinc	toxicity.”79	
	
One	Norwegian	assessment/presentation	reported	that	“recycled	rubber	was	the	major	source	of	
potentially	hazardous	substances.		An	exposure	scenario	where	the	runoff	from	a	football	field	is	
drained	to	a	small	creek	showed	a	positive	risk	of	toxic	effects	on	biota	in	the	water	phase	and	in	the	
sediment.		The	risk	was	mainly	attributed	to	zinc,	but	also	for	octylphenol	the	predicted	
environmental	concentrations	exceeded	the	no	environmental	effect	concentration.”	80			The	
hazardous	leaching	could	result	in	local	environmental	effect.81			
	
Conclusion	
Given	all	of	the	science	on	the	record	that	demonstrates	artificial	turf	is	a	threat	to	health	and	the	
environment,	the	precautionary	principle	dictates	that	artificial	turf	with	crumb	rubber	infill	be	
recognized	as	a	threat	to	public	health	and	safety	and	the	environment	and	that	the	ongoing	
expansion	and	construction	of	crumb	rubber	turf	fields	should	be	prohibited	and	those	fields	that	
have	already	been	installed	should	be	removed	and	properly	disposed	of.			
	
When	a	community	installs	a	crumb	rubber	artificial	turf	field	it	is	forcing	children	who	want	to	
participate	in	sports	to	be	forced	to	expose	themselves	to	its	hazards.		It	is	simply	neither	right	nor	
fair	for	communities,	with	the	support	or	false	sense	of	security	given	by	an	acquiescing	government	
agency,	to	be	making	investments	that	take	from	parents	and	kids	the	ability	to	decide	for	themselves	
what	health	hazards	they	are	willing	to	be	exposed	to	if	they	want	to	participate	in	sports.		Advancing	
in	anyway	the	construction	and	expansion	of	crumb	rubber	artificial	turf	fields		is	forcing	an	unfair	
choice	on	kids	and	parents:		play	sports	or	protect	your	health,	but	you	are	not	allowed	to	have	both.	
	
Respectfully,	
	
	

Maya	K.	van	Rossum	
the	Delaware	Riverkeeper		
	
P.S.	I	note,	that	as	a	result	of	my	work	on	this	issue,	as	a	parent	I	have	had	to	pull	my	son	from	the	
township	lacrosse	team	because	they	started	playing	on	artificial	turf	this	past	year.		The	health	
impacts	of	artificial	turf	are	too	significant	and	concerning	for	me,	as	a	parent,	to	allow	my	10	year	old	
son	to	play	on	crumb	rubber	artificial	turf.			
78	Byggforsk,	SINTEF	Building	and	Infrastructure,	Potential	Health	and	Environmental	Effects	Associated	with	Synthetic	
Turn	Systems,	2004,	as	referenced	in	KEM,	Swedish	Chemicals	Agency,	Facts:	Synthetic	Turf,	April	2007.	
79	M.	Ray	Tucker,	Agronomist,	Ground	Rubber:	Potential	Toxicity	to	Plants,	Media	Notes	for	North	Carolina	Growers,	North	
Carolina	Dept	of	Agriculture	&	Consumer	Services,	April	1997.	
80	Dr.	Christine	Bjorge,	Norwegian	Institute	of	Public	Health,	Artificial	turf	Pitches	–	an	assessment	of	the	health	risks	for	
football	players	and	the	environment,	Presentation	at	the	ISSS	Technical	meeting	2006,	Dresden.	
81	Dr.	Christine	Bjorge,	Norwegian	Institute	of	Public	Health,	Artificial	turf	Pitches	–	an	assessment	of	the	health	risks	for	
football	players	and	the	environment,	Presentation	at	the	ISSS	Technical	meeting	2006,	Dresden.	

Page 11 of 12

	
Attachments:	
Submitted	as	part	of	this	comment	are	fact	sheets	and	an	annotated	bibliography	that	discuss	the	
research	detailed	above	as	well	as	additional	research	speaking	about	the	environmental	and	public	
health	threats	posed	by	crumb	rubber	infill	artificial	turf.	
	

Page 12 of 12

	
Summary	of	Research		
Assessing	the	Impacts	of	Artificial	Turf	
Updated	4/29/2016	
	
Heat:	Research	has	documented	that	the	surface	temperature	on	artificial	turf	is	dramatically	higher	than	the	
surrounding	land	uses	including	asphalt.	Concerns	regarding	the	excessive	temperatures	range	from	the	implications	
for	players	who	are	already	exerting	themselves	to	the	implications	for	burns	when	players	or	pedestrians	come	into	
contact	with	the	hot	surfaces.	
1. Petrass,	L.	A.,	et	al.	(2014).	Comparison	of	surface	temperatures	of	different	synthetic	turf	systems	and	
natural	grass:	Have	advances	in	synthetic	turf	technology	made	a	difference.	Proceedings	of	the	Institution	
of	Mechanical	Engineers,	Part	P:	Journal	of	Sports	Engineering	and	Technology.	
a. A	comparison	of	surface	temperatures	of	third-generation	synthetic	turf	with	a	cool	climate	product	
that	claims	to	reduce	surface	temperatures	to	surface	temperatures	of	natural	grass.		
b. Although	surface	temperatures	were	lower	for	the	cool	climate	field	compared	to	other	synthetic	
turf,	both	types	of	artificial	turf	fields	were	considerably	hotter	than	natural	grass	with	temperatures	
that	were	between	12°	C	(53°	F)	and	22°	C	(72°	F)	hotter.	
2. Reasor,	E.	H.	(2014).	Synthetic	Turf	Surface	Temperature	Reduction	and	Performance	Characteristics	as	
Affected	by	Calcined	Clay	Modified	Infill.	Master’s	Thesis,	University	of	Tennessee.	Available	at:	
http://trace.tennessee.edu/utk_gradthes/2750		
a. Surface	temperatures	of	artificial	turf	were	between	31°	C	(88°	F)	and	57°	C	(135°	F).	
b. Although	irrigation	reduced	surface	temperatures	of	artificial	turf,	increases	of	74	to	102%	of	the	
pre-irrigation	temperature	were	observed	within	30	minutes	after	irrigation.	
c. Surface	temperatures	returned	to	pre-irrigation	temperature	on	all	of	the	treatments	between	60	
and	120	minutes	after	irrigation.		Therefore,	the	cooling	effect	of	irrigation	will	not	last	the	entire	
length	of	an	athletic	competition.			
3. Thoms,	A.	W.	et	al.	(2014).	Models	for	Predicting	Surface	Temperatures	on	Synthetic	Turf	Playing	Surfaces.	
Procedia	Engineering,	72,	895-900.	Available	at:	
http://www.sciencedirect.com/science/article/pii/S1877705814006699	
a. Artificial	turf	surface	temperatures	ranged	from	-9.8	to	86.4°	C	(14	to	188°	F)	to	when	ambient	air	
temperatures	ranged	from	-0.4	to	37.1°	C	(31	to	99°	F).			
b. Absorption	of	solar	radiation	results	in	increased	temperatures	on	artificial	turf	surfaces,	and	high	
rates	of	solar	radiation	are	absorbed	with	minimal	light	reflectance.			Therefore,	air	temperature	in	
conjunction	with	solar	radiation	explained	most	of	the	variation	in	artificial	turf	surface	
temperatures.		
4. Penn	State’s	Center	for	Sports	Surface	Research	(2012).	Synthetic	Turf	Heat	Evaluation-	Progress	Report.	
January	2012.	Available	at:	http://plantscience.psu.edu/research/centers/ssrc/documents/heat-progressreport.pdf		
DELAWARE RIVERKEEPER NETWORK
925 Canal Street, Suite 3701
Bristol, PA 19007
Office: (215) 369-1188
fax: (215)369-1181
[email protected]
www.delawareriverkeeper.org

5.

6.

7.

8.

9.

a. This	study	measured	surface	temperatures	of	artificial	turf	fields	between	140.2	and	173.4°	F	when	
air	temperatures	were	between	73	and	79°	F.		
b. Looking	at	various	color	options	for	infill	and	temperature,	no	product	significantly	reduced	surface	
temperatures.		Small	reductions	in	temperature	are	insignificant	when	surface	temperatures	still	
exceed	150°	F.		This	study	concluded	that	“[w]hile	marketing	materials	may	claim	lower	surface	
temperatures,	no	scientific	reports	exist	that	substantiate	such	claims.”		
c. Research	has	not	found	a	good	solution	for	excessive	heat	levels	of	turf.			
Serensits,	T.	J.	et	al.	(2011).	Human	health	issues	on	synthetic	turf	in	the	USA.	Proceedings	of	the	Institution	
of	Mechanical	Engineers,	Part	P:	Journal	of	Sports	Engineering	and	Technology,	225(3),	139-146.	
a. High	surface	temperatures	found	on	artificial	turf	fields	can	contribute	to	physiological	stress	and	
cause	“serious	heat-related	illnesses”	including	heat	stress,	heat	stroke,	and	burns.		
b. The	“New	York	City	Department	of	Health	and	Mental	Hygiene	recognizes	excessive	surface	
temperatures	as	the	most	important	health	concern	associated	with	infilled	synthetic	turf.”	
c. Irrigation	of	excessively	hot	artificial	turf	surfaces	only	provides	cooling	benefits	for	about	20	
minutes,	with	a	rebound	to	within	10	degrees	of	the	pre-irrigation	temperature	within	3	hours.					
d. The	use	of	white	crumb	rubber	as	the	infill	does	not	resolve	the	heat	issue.		
Sciacca,	T	(2008).	The	Thermal	Physics	of	Artificial	Turf.	SynTurf.org.	Available	at:	
http://www.synturf.org/sciaccaheatstudy.html		
a. A	study	comparing	temperatures	on	artificial	turf	temperatures	with	air	temperature	found	that	
artificial	turf	ranged	from	58	to	75°	hotter	than	measured	air	temperature.		
SportsTurf	Managers	Association	(STMA)	(2008).	A	Guide	to	Synthetic	and	Natural	Turfgrass	for	Sports	
Fields:	Selection,	Construction	and	Maintenance	Considerations.	2nd	edition.	Available	at:	
http://www.stma.org/sites/stma/files/STMA_Synthetic_Guide_2nd_Edition.pdf				
a. Artificial	turf	gets	dramatically	hotter	than	surrounding	land	uses	including	asphalt	with	surface	
temperatures	as	much	as	95	to	140°	F	hotter	than	natural	grass	fields	whereas	the	temperature	of	
natural	grass	rarely	rises	above	85°	F,	regardless	of	air	temperature	
Williams,	C.	F.,	&	Pulley,	G.	E.	(2002).	Synthetic	surface	heat	studies.	Brigham	Young	University.	Available	at:	
www.wellesleyma.gov/pages/WellesleyMA_SpragueResources/Synthetic%20Surfaces%20Heat%20Study.do
c		
a. Temperature	measurements	were	taken	at	the	surface,	above	the	surface,	and	below	the	surface	of	
artificial	turf,	natural	turf,	bare	soil,	asphalt,	and	concrete.		
b. Surface	temperatures	of	synthetic	turf	were	37°	F	higher	than	asphalt	and	86.5°	F	hotter	than	
natural	turf.	
c. Two	inches	below	the	surface,	synthetic	turf	was	28.5°	F	hotter	than	natural	turf.	
d. Although	irrigation	of	synthetic	turf	resulted	in	a	reduction	of	close	to	90°F,	temperatures	rose	35°	
within	five	minutes	and	returned	to	the	starting	temperature	within	20	minutes.	
e. “The	hottest	surface	temperature	recorded	was	200º	F	on	a	98º	F	day.		Even	in	October	the	surface	
temperature	reached	112.4º	F.”	
f. Brigham	Young	University	has	set	a	surface	temperature	guideline	which	restricts	play	on	synthetic	
turf	fields	when	surface	temperatures	are	potentially	hazardous	to	athletes.		This	reduces	the	
playing	season	and	eliminates	any	continuous	play	benefit	that	is	typically	mentioned	in	favor	of	
artificial	turf.		
Beard,	J.	B.,	&	Green,	R.	L.	(1994).	The	role	of	turf	grasses	in	environmental	protection	and	their	benefits	to	
humans.	Journal	of	Environmental	Quality,	23(3),	452-460.	Available	at:	
https://www.landcarenetwork.org/legislative/TheRoleofTurfgrassesinEnvironmentalProtection.pdf		
a. Synthetic	surfaces	can	be	up	to	39°	C	(102°	F)	hotter	than	natural	turf.		Natural	turf	grass	provides	a	
natural	cooling	affect	and	helps	to	dissipate	heat	from	neighboring	developed	areas.	

	
	

Page 2 of 10

	
Health:	The	impacts	of	inhalation	or	ingestion	of	chemicals	continues	to	be	a	concern	for	those	playing	on	artificial	
turf.		Direct	human	exposure	to	the	hazardous	substances	contained	in	the	rubber	in-fill	of	artificial	turf	is	believed	
to	occur	via	inhalation,	skin	contact,	and/or	ingestion.		Furthermore,	there	are	concerns	for	increased	injuries	and	
bacterial	infections	when	playing	on	artificial	turf.	
1. Kim,	S.,	Yang,	J.-Y.,	Kim,	H.-H.,	Yeo,	I.-Y.,	Shin,	D.-C.,	&	Lim,	Y.-W.	(2012).	Health	Risk	Assessment	of	Lead	
Ingestion	Exposure	by	Particle	Sizes	in	Crumb	Rubber	on	Artificial	Turf	Considering	Bioavailability.	
Environmental	Health	and	Toxicology,	27,	e2012005.	http://doi.org/10.5620/eht.2012.27.e2012005.	
a. Researchers	considered	the	risks	for	lead	exposure	from	children	ingesting	rubber	powder	resulting	
from	exposure	to	crumb	rubber	infill	artificial	turf	and	found	that	elementary	school	students	had	a	
hazard	index	that	exceeded	0.1,	a	level	that	is	considered	a	“potential	for	hazard”,	with	middle	and	
high	school	students	also	suffering	exposure	levels.		
	
2. Balazs,	G.	C.,	et	al.	(2014).	Risk	of	Anterior	Cruciate	Ligament	Injury	in	Athletes	on	Synthetic	Playing	Surfaces	
A	Systematic	Review.	The	American	journal	of	sports	medicine,	0363546514545864.	
a. A	systematic	review	of	available	literature	on	the	risk	of	ACL	rupture	on	natural	grass	versus	artificial	
turf	found	that	there	is	an	increased	rate	of	ACL	injury	on	synthetic	playing	surfaces	for	football	
players.			
3. Celeiro,	M.,	Lamas,	J.	P.,	Garcia-Jares,	C.,	Dagnac,	T.,	Ramos,	L.,	&	Llompart,	M.	(2014).	Investigation	of	PAH	
and	other	hazardous	contaminant	occurrence	in	recycled	tyre	rubber	surfaces.	Case-study:	restaurant	
playground	in	an	indoor	shopping	centre.	International	Journal	of	Environmental	Analytical	Chemistry,	
94(12),	1264-1271.	
a. The	presence	of	a	large	number	of	hazardous	substances	were	found	in	both	the	runoff	and	vapor	
phase	of	recycled	tire	playground	surfaces.		
b. Nine	polycyclic	aromatic	hydrocarbons	(PAHs)	were	detected	in	the	runoff/	cleaning	water	with	total	
PAH	concentrations	in	the	ppm	(parts	per	million)	range.		
c. The	most	toxic	PAH,	benzo[a]pyrene	was	detected	in	extracts	from	playground	surfaces.		
d. “The	presence	and	the	high	concentration	of	these	chemical	compounds	in	playground	should	be	a	
matter	of	concern	owing	to	their	high	toxicity.”	
4. Laible,	C.,	&	Sherman,	O.	H.	(2014).	Risk	Factors	and	Prevention	Strategies	of	Non-Contact	Anterior	Cruciate	
Ligament	Injuries.	Bulletin	of	the	Hospital	for	Joint	Diseases,	72(1),	70-5.	Available	at:	
http://www.nyuhjdbulletin.org/mod/bulletin/v72n1/docs/v72n1_7.pdf		
a. Since	shoe-surface	interaction	is	important	for	injury	prevention,	“the	optimal	surface	to	prevent	
injury	is	outdoors	on	natural	grass.”	
b. Artificial	turf	has	a	higher	friction	coefficient	and	greater	ground	reaction	force,	both	conditions	that	
increase	the	risk	for	injury.		
c. Furthermore,	as	temperature	increases	the	shoe-surface	friction	interaction	increases	and	exposes	
athletes	to	greater	risk	of	injury.			
5. Bass,	J.	J.,	&	Hintze,	D.	W.	(2013).	Determination	of	Microbial	Populations	in	a	Synthetic	Turf	System.	
Skyline-The	Big	Sky	Undergraduate	Journal,	1(1),	1.	Available	at:	
http://skyline.bigskyconf.com/cgi/viewcontent.cgi?article=1000&context=journal		
a. Abrasions,	even	insignificant	ones,	from	artificial	turf	can	create	an	entry	site	for	pathogens.	
b. The	higher	abrasion	rate	for	synthetic	turf	increases	the	risk	of	infection,	and	the	microbial	
populations	found	within	synthetic	turf	are	a	source	of	pathogens	when	abrasions	occur.		
c. Older	turf	fields	have	higher	microbial	populations,	as	well	as	higher	levels	in	the	higher	traffic	areas	
such	as	the	sidelines.		These	results	indicate	that	artificial	turf	poses	a	greater	risk	for	the	spread	of	
pathogens	and	infections	among	student	athletes.		
6. Llompart,	M.,	Sanchez-Prado,	L.,	Lamas,	J.	P.,	Garcia-Jares,	C.,	Roca,	E.,	&	Dagnac,	T.	(2013).	Hazardous	
organic	chemicals	in	rubber	recycled	tire	playgrounds	and	pavers.	Chemosphere,	90(2),	423-431.	Available	
at:	http://www.elcorreodelsol.com/sites/default/files/chemosphere_maria_llompart.pdf		

Page 3 of 10

7.

8.

9.

10.

11.

a. An	analysis	of	surfaces	containing	recycled	rubber	tires	confirmed	the	presence	of	hazardous	
substances	including	PAHs,	phthalates,	antioxidants	(e.g.	BHT,	phenols),	benzothiazole,	derivatives,	
and	other	chemicals.		
b. The	vapor	phase	above	the	samples	confirmed	volatilization	of	many	organic	compounds	
demonstrating	that	these	chemicals	can	enter	the	human	body	through	inhalation.	
c. The	use	of	recycled	rubber	tires	for	play	areas,	especially	facilities	for	children,	should	be	restricted	
or	prohibited.			
Serensits,	T.	J.,	McNitt,	A.	S.,	&	Petrunak,	D.	M.	(2011).	Human	health	issues	on	synthetic	turf	in	the	USA.	
Proceedings	of	the	Institution	of	Mechanical	Engineers,	Part	P:	Journal	of	Sports	Engineering	and	Technology,	
225(3),	139-146.	
a. Synthetic	turf	is	more	abrasive	than	natural	turf	grass,	therefore,	“breaks	in	the	skin	are	more	
common,	creating	a	pathway	for	infection	when	in	contact	with	an	infected	surface.”				
Shalat,	S.L.	(2011).	An	Evaluation	of	Potential	Exposures	to	Lead	and	Other	Metals	as	the	Result	of	
Aerosolized	Particulate	Matter	from	Artificial	Turf	Playing	Fields,	Final	Report.	Submitted	to	NJ	Department	
of	Environmental	Protection,	July	14,	2011.		Available	at:	http://www.nj.gov/dep/dsr/publications/artificialturf-report.pdf		
a. In	air	samples	collected	from	artificial	turf	during	various	levels	of	activity,	researchers	detected	
arsenic,	cadmium,	chromium	and	lead,	all	metals	with	known	human	toxicity.		
b. This	research	demonstrates	that	activity	by	players	on	the	fields	could	suspend	contaminated	
particulates	into	the	air	that	could	be	inhaled	and	therefore,	human	exposure	from	artificial	turf	
fields	is	not	limited	to	dermal.		
c. These	results	“raise	some	concerns	with	regard	to	the	potential	hazards	that	may	exist	for	
individuals	and	in	particular	children	who	engage	in	sports	activities	on	artificial	turf	fields.”	
Van	Ulirsch,	G.	et	al.	(2010).	Evaluating	and	regulating	lead	in	synthetic	turf.	Environmental	health	
perspectives,	118(10),	1345.	Available	at:	http://www.ncbi.nlm.nih.gov/pmc/articles/PMC2957910/pdf/ehp118-1345.pdf		
a. Artificial	turf	can	degrade	to	form	lead	containing	dust	at	levels	that	pose	a	health	risk	to	children.			
b. Due	to	the	lack	of	research,	“…physicians	should	be	aware	of	synthetic	turf	as	one	potential	source	
of	exposure	for	young	children…”	and	“Health	officials	investigating	elevated	blood	lead	in	children	
should	also	be	aware	of	synthetic	turf	as	a	potential	source	of	lead	exposure.”	
Center	for	Disease	Control	and	Prevention.	(2008).	CDC	Health	Advisory.	Potential	exposures	to	lead	
inartificial	turf:	Public	health	issues,	actions,	and	recommendations.	June	18,	2008.	Available	at:	
http://www.dhhr.wv.gov/oeps/disease/Documents/Advisory_00275.pdf		
a. Artificial	turf	made	of	nylon	or	nylon/	polyethylene	blend	fibers	contain	lead	and	pose	a	potential	
public	health	concern.		
b. The	risk	for	lead	exposure	is	higher	for	artificial	fields	that	are	old,	frequently	used,	exposed	to	the	
weather,	or	demonstrate	signs	of	abraded,	faded,	or	broken	fibers.		As	turf	ages,	lead	is	released	in	
dust	that	could	then	be	ingested	or	inhaled.			
c. CDC	does	not	know	how	much	lead	the	body	will	absorb.		However,	lead	can	cause	neurological	
development	symptoms	and	behavioral	problems.		Children	less	than	6	years	old	are	more	affected	
by	lead	than	adults	and	absorb	lead	more	easily.		
d. CDC	does	not	understand	the	potential	risks	associated	with	lead	exposure	from	artificial	turf	but	
recommends	precautions	including	aggressive	hand	and	body	washing	after	playing	on	fields,	
washing	clothes	immediately	to	avoid	tracking	contaminated	dust	to	other	places,	and	discouraging	
eating	and	drinking	while	on	turf	products.	
Han,	I.	K.,	Zhang,	L.,	&	Crain,	W.	(2008).	Hazardous	chemicals	in	synthetic	turf	materials	and	their	
bioaccessibility	in	digestive	fluids.	Journal	of	Exposure	Science	and	Environmental	Epidemiology,	18(6),	600607.		Available	at:	http://www.nature.com/jes/journal/v18/n6/pdf/jes200855a.pdf	

Page 4 of 10

a. Samples	from	rubber	granules	and	from	artificial	grass	fibers	were	taken	at	fields	of	different	ages	
and	analyzed	for	polycyclic	aromatic	hydrocarbons	(PAHs),	zinc,	chromium,	arsenic,	cadmium,	and	
lead.		These	samples	were	then	analyzed	to	determine	their	bioaccessibility	in	synthetic	digestive	
fluids.		
b. The	rubber	granules	found	in	artificial	turf	fields	had	PAH	levels	above	health-based	soil	standards.		
Although	levels	appear	to	decline	over	time,	this	trend	can	be	altered	by	the	fact	that	new	rubber	
can	be	added	periodically	to	compensate	for	the	loss	of	infill	material.			
c. There	was	a	“slightly	worrisome”	level	of	chromium	found	in	artificial	turf	fiber	samples.	
d. Lead	in	artificial	fields	can	come	from	the	blades	of	artificial	grass,	the	pigment	used	for	the	field	
markings	and	lines,	and	the	infill	material.		Although	there	were	relatively	low	concentrations	of	lead	
measured,	the	researchers	were	careful	to	point	out:	“some	health	scientists	believe	that	any	Pb	
[lead]	is	harmful	to	children’s	neurocognitive	development,	and	that	no	new	Pb	should	be	added	to	
their	surroundings.”	Furthermore,	the	lead	present	in	the	rubber	granules,	while	at	low	levels,	was	
“highly	bioaccessible”	to	synthetic	gastric	fluid.				
12. Brown,	D.R.	(2007).	Artificial	Turf:	Exposures	to	Ground-up	Rubber	Tires.	Environment	&	Human	Health,	Inc.	
(EHHI).	Available	at:	http://www.ehhi.org/reports/turf/turf_report07.pdf		
a. Direct	human	exposure	to	the	hazardous	substances	contained	in	artificial	turf	occurs	via	three	
pathways:		inhalation	as	chemicals	off	gas	from	the	turf,	skin	contact,	or	ingestion	including	by	
children	or	infants	who	come	into	contact	with	the	material.		In	the	case	of	allergies	(i.e.	latex	
allergies),	inhalation	could	result	in	a	systemic	response,	as	opposed	to	a	contact	response.				
b. Extreme	temperatures	or	solvents	are	not	needed	to	release	metals	(including	zinc,	selenium,	lead	
and	cadmium),	volatile	organic	compounds,	or	semi-volatile	organic	compounds	from	the	rubber	infill	of	artificial	turf	into	the	air	or	water	–	release	takes	place	in	ambient	air	and	water	temperatures.	
c. While,	“the	status	of	the	information	about	human	exposures	to	recycled	tire	crumb	rubber	in-fill	…	
is	not	sufficient	to	determine	the	safety	of	the	use	of	the	product	in	situations	that	involve	
continuous	episodes	of	human	exposure;”			“the	available	information	is	sufficient	and	strong	
enough	to	raise	plausible	questions	with	respect	to	acute	toxicity	for	susceptible	persons,	and	for	
cancer	risks.”		
13. California	Office	of	Environmental	Health	Hazard	Assessment	(OEHHA)	(2007).	Evaluation	of	Health	Effects	
of	Recycled	Waste	Tires	in	Playground	and	Track	Products.	Report	prepared	for	the	Integrated	Waste	
Management	Board.		Available	at:	
http://www.calrecycle.ca.gov/publications/Documents/Tires%5C62206013.pdf		
a. Based	on	a	review	of	46	studies,	49	chemicals	that	are	released	from	tire	crumb	were	identified.		
b. Of	the	49	chemicals	identified,	“seven	of	the	chemicals	leached	from	tire	shreds	were	carcinogens.”			
c. OEHHA	calculated	a	cancer	risk	of	1.2	in	10	million	based	on	a	one-time	ingestion	of	the	tire	crumb	
rubber	over	a	lifetime.				
d. Chrysene,	a	PAH	and	carcinogen,	was	found	to	be	ingested	as	the	result	of	hand-to-surface-tomouth	transfer	from	playground	surfaces	made	with	recycled	tires.		Assuming	playground	use	for	an	
11	year	period	(from	age	1	to	12)	there	was	found	to	be	an	increased	cancer	risk	of	2.9	in	one	million	
from	the	general	cancer	risk	gauge	of	one	in	one	million	
e. Only	31%	of	the	playground	surfaces	made	of	recycled	tires	tested	passed	the	California	State	
mandated	Head	Impact	Criterion	(HIC)	of	<1,000.		In	this	same	study	100%	of	the	playground	
surfaces	made	of	wood	chips	passed	the	same	standard.			
14. Crain,	W.	and	Zhang,	J.	(2007).	Rachel’s	Democracy	and	Health	News	#992:	Hazardous	Chemicals	in	
Synthetic	Turf,	Follow-up	Analyses,	April	12,	2007.	Available	at:	
http://www.precaution.org/lib/07/prn_synthetic_turf.070405.htm		

Page 5 of 10

15.

16.

17.

18.

19.

a. Testing	on	two	sites	in	New	York	where	synthetic	turf	has	been	used	(the	large,	3	year	old,	Parade	
Ground	in	Brooklyn;	the	relatively	small	5	month	old	Sara	D.	Roosevelt	Park	in	Manhattan)	found	
PAHs	at	hazardous	levels	(as	per	New	York	standards).		Dibenzo	(a.h)anthracene,	a	probable	human	
carcinogen,	was	also	found	at	hazardous	levels,	with	two	other	PAH	forms,	both	possible	human	
carcinogens,	found	at	hazardous	levels	at	the	Parade	Ground	site.				
b. Research	into	the	pathways	by	which	these	substances	may	be	absorbed	into	the	bodies	of	children	
and	athletes	via	skin	contact,	ingestion	or	other	pathways,	is	very	limited	with	additional	research	
needed.	
Epstein,	V.	(2007).	Texas	Football	Succumbs	to	Virulent	Staph	Infection	from	Turf.	Bloomberg	Press,	
December	21,	2007.	Available	at:	
http://www.bloomberg.com/apps/news?pid=newsarchive&sid=alxhrJDn.cdc	
a. Artificial	turf	is	linked	with	serious	and	potentially	life	threatening	staph	infections	including	MRSA	
(methicillin-resistant	staphylococcus	aureus).		MRSA	can	exploit	minor	skin	injuries	such	as	turf	
burn,	and	therefore,	MRSA	infection	rate	among	players	is	16	times	higher	than	the	national	
average.	
KEMI,	Swedish	Chemicals	Agency	(2007).		Facts:	Synthetic	Turf.	April	2007.		Available:	
http://www2.kemi.se/upload/trycksaker/pdf/faktablad/fbsyntheticturf.pdf.		
a. Tires	contain	up	to	60	different	substances	which	may	be	bioaccumulative,	carcinogenic,	reprotoxic,	
mutagenic	and/or	endocrine	disrupting.				
b. Most	PAHs	are	persistent,	bioaccumulative	and	carcinogenic.				
c. Among	the	metals	found	in	tires	that	may	be	of	concern	are	zinc,	lead,	copper,	chromium	and	
cadmium.	Zinc	and	copper	are	harmful	when	absorbed	at	high	levels.		Lead	can	affect	reproduction	
and	development	of	the	nervous	system	leading	to	poor	cognitive	development.		Chromium	is	
carcinogenic	and	mutagenic.		Cadmium	is	toxic	to	humans	and	can	contribute	to	poor	liver	and	
kidney	function,	as	well	as	osteoporosis.				
Mattina,	M.	I.,	Isleyen,	M.,	Berger,	W.,	&	Ozdemir,	S.	(2007).	Examination	of	crumb	rubber	produced	from	
recycled	tires.	The	Connecticut	Agricultural	Experiment	Station,	New	Haven,	CT.	Available	at:	
http://www.ct.gov/caes/lib/caes/documents/publications/fact_sheets/examinationofcrumbrubberac005.pd
f	
a. Multiple	compounds	out-gas	and	leached	into	water	from	synthetic	turf	rubber	crumb	under	
ambient	temperatures	including	benzothiazole	(a	skin	and	eye	irritant),	butylated	hydroxyanisole	(a	
“recognized	carcinogen,	suspected	endocrine	toxicant,	gastrointestinal	toxicant,	immune	toxicant,	
neurotoxicant,	skin	and	sense-organ	toxicant”),	n-hexadecane	(a	severe	irritant),	and	4-(t-octyl)	
phenol	(“corrosive	and	destructive	to	mucous	membranes”).	
Anderson,	M.	E.	et	al.		(2006).	A	case	study	of	tire	crumb	use	on	playgrounds:	risk	analysis	and	
communication	when	major	clinical	knowledge	gaps	exist.	Environmental	health	perspectives,	114(1),	1.	
Available	at:	http://www.ncbi.nlm.nih.gov/pmc/articles/PMC1332647/pdf/ehp0114-000001.pdf		
a. A	Case	Study	conducted	by	a	group	of	physicians	and	public	health	professionals	working	with	the	
U.S.	Environmental	Protection	Agency’s	Region	Pediatric	Environmental	Health	Specialty	Unit	found	
that	the	research	and	information	necessary	is	not	available	to	establish	“the	safety	in	use	with	
children”	of	tire	crumb	used	as	playground	surfaces.				
b. “The	use	of	recycled	tire	crumb	products	on	playgrounds	has	had	little	health	investigation.		The	
major	unresolved	concern	is	the	potential	for	latex	allergy	with	short-term	dermal	exposure.”					
Crain,	W.	and	Zhang,	J.	(2006).	Rachel’s	Democracy	and	Health	News	#871:	Hazard	Chemicals	in	Synthetic	
Turf.		September	7,	2006.	Available	at:	
http://www.precaution.org/lib/06/prn_toxins_in_synthetic_turf.060831.htm		

Page 6 of 10

20.

21.

22.

23.

24.

a. Analyses	conducted	at	the	Environmental	and	Occupational	Health	Sciences	Institute	of	Rutgers	
University	found	the	crumb	rubber	from	artificial	turf	to	contain	high	levels	of	PAHs,	as	well	as	zinc	
and	arsenic.				
b. PAHs	found	to	be	contained	in	the	crumb	rubber	“were	above	the	concentration	levels	that	the	New	
York	State	Department	of	Environmental	Conservation	(DEC)	considers	sufficiently	hazardous	to	
public	health	to	require	their	removal	from	contaminated	soil	sites.	It	is	highly	likely	that	all	six	PAHs	
are	carcinogenic	to	humans.”						
c. “The	analyses	also	revealed	levels	of	zinc	in	both	samples	that	exceed	the	DEC's	tolerable	levels.”						
d. The	researchers	associated	with	these	findings	were	careful	to	state	“We	want	to	emphasize	that	
the	findings	are	preliminary.	PAHs	in	rubber	might	not	act	the	same	way	as	in	soil,	and	we	do	not	yet	
have	information	on	the	ease	with	which	the	PAHs	in	these	rubber	particles	might	be	absorbed	by	
children	or	adults	--	by	ingestion,	inhalation,	or	absorption	through	the	skin.	However,	the	findings	
are	worrisome.	Until	more	is	known,	it	wouldn't	be	prudent	to	install	the	synthetic	turf	in	any	more	
parks.”			
Kazakova,	S.	V.	et	al.		(2005).	A	clone	of	methicillin-resistant	Staphylococcus	aureus	among	professional	
football	players.	New	England	Journal	of	Medicine,	352(5),	468-475.		Available	at:	
http://www.nejm.org/doi/pdf/10.1056/NEJMoa042859		
a. In	a	study	of	professional	football	players	from	the	St.	Louis	Rams	team,	all	MRSA	infections	
developed	at	sites	of	turf	burns.	
b. Players	reported	a	higher	frequency	of	abrasions	when	playing	on	artificial	turf	compared	to	natural	
grass.		
Begier,	E.	M.	et	al.	(2004).	A	high-morbidity	outbreak	of	methicillin-resistant	Staphylococcus	aureus	among	
players	on	a	college	football	team,	facilitated	by	cosmetic	body	shaving	and	turf	burns.	Clinical	infectious	
diseases,	39(10),	1446-1453.	(a	study	conducted	for	the	Connecticut	Department	of	Public	Health,	Student	
Health	Services	of	Sacred	Heart	Univ,	Centers	for	Disease	Control	and	Prevention,	Minnesota	Department	of	
Public	Health,	and	the	Los	Angeles	County	Department	of	Health	Services).	
a. In	a	study	of	MRSA	outbreaks	involving	college	football	players,	infection	was	associated	with	turf	
burns	from	artificial	grass.	Turf	burns	increased	the	risk	of	infection	regardless	of	the	type	and	
timing	of	care	provided	the	burn.		Turf	burns	may	be	facilitating	infection	by	acting	as	a	pathway	for	
infection.		
Shorten,	M.	R.,	&	Himmelsbach,	J.	A.	(2003).	Sports	surfaces	and	the	risk	of	traumatic	brain	injury.	Sports	
surfaces.	University	of	Calgary,	Calgary,	49-69.	Available	at:	
http://biomechanica.com/docs/publications/docs/Shorten%20-%20Head%20Injury%20Risk.pdf			
a. There	is	double	the	risk	of	head	traumas	such	as	concussions	associated	with	artificial	turf	compared	
to	natural	turf,	and	artificial	turf	presents	a	5	times	greater	risk	of	more	severe	head	injury.			
b. Concussions	(formally	described	as	Mild	Traumatic	Brain	Injury	or	MTBI)	resulting	from	sports	has,	
according	to	the	US	Centers	for	Disease	Control,	reached	“epidemic	proportions,”	and	these	’mild’	
head	traumas,	especially	a	series	of	concussions,	can	have	long	term,	negative	effects	on	cognitive	
function.					
Naunheim,	R.,		et	al.	(2002).	Does	the	use	of	artificial	turf	contribute	to	head	injuries?.	Journal	of	TraumaInjury,	Infection,	and	Critical	Care,	53(4),	691-694.	
a. The	impact-attenuating	properties	of	two	artificial	fields	were	compared	to	a	grass	outdoor	practice	
field.		Both	artificial	surfaces	were	harder	compared	to	the	outdoor	grass	field.		It	was	concluded	
that	the	low	impact	attenuation	of	the	artificial	turf	may	be	contributing	to	the	high	incidence	of	
concussion.	
Guskiewicz,	K.	M.,		et	al.	(2000).	Epidemiology	of	concussion	in	collegiate	and	high	school	football	players.	
The	American	Journal	of	Sports	Medicine,	28(5),	643-650.		

Page 7 of 10

a. In	a	survey	of	both	high	school	and	collegiate	certified	athletic	trainers	representing	over	17,000	
football	players,	contact	with	artificial	turf	was	associated	with	more	serious	concussion	than	
contact	with	natural	grass.		
	
	
Environment:	The	pollutant	substances	found	in	artificial	turf	contribute	to	contamination	of	soil,	plants	and	aquatic	
ecosystems	and	pose	a	risk	of	toxic	effects	for	aquatic	and	sediment	dwelling	organisms.		The	resulting	
environmental	harm	is	on-going	and	long-term,	happening	over	many	years.	The	varying	content	of	tires	used	for	
infill	of	turf	systems	makes	this	threat	a	moving	target.	A	growing	body	of	scientific	analysis	is	documenting	a	
concerning	level	of	environmental	threat	and	harm	and	is	further	demonstrating	the	need	for	more	research	
regarding	artificial	turf	and	its	ramifications	for	the	environment.		
1. Public	Employees	for	Environmental	Responsibility	(PEER)	(2012).	Petition	for	a	Rulemaking	on	Surface	Heat	
from	Artificial	Turf,	Submitted	by	PEER	to	Consumer	Product	Safety	Commission,	Sept	6,	2012.		Available	at:	
http://www.peer.org/assets/docs/doc/9_6_12_PEER_Petition_heat_rulemaking.pdf		
a. As	well	explained	by	an	oft	cited	petition	to	the	Consumer	Product	Safety	Commission	for	
rulemaking:		“When	tires	are	shredded	and	pulverized,	their	surface	area	increases	exponentially,	as	
does	the	particulate	and	gas	yield	from	the	tire	material.		Since	tires	are	made	of	very	harmful	
materials,	including	24	gases	found	to	be	harmful	to	humans,	carbon	black,	(a	carcinogen	which	
makes	up	30%	of	tires),	latex,	benzothiazoles,	phthalates,	lead,	mercury,	cadmium,	zinc	and	many	
other	known	toxins,	when	the	fields	heat	up,	they	become	increasingly	dynamic.		Of	primary	
concern	is	the	interaction	of	particles	and	gases,	‘because	when	particles	adsorb	onto	the	surface	of	
gases,	they	become	10-20	times	more	toxic	than	the	materials	themselves.’”		
b. Furthermore,	artificial	turf	becomes	more	toxic	as	it	heats	up.	
2. Sadiktsis,	I.,	et	al.	(2012).	Automobile	Tires 	A	Potential	Source	of	Highly	Carcinogenic	Dibenzopyrenes	to	
the	Environment.	Environmental	science	&	technology,	46(6),	3326-3334.	Available	at:		
http://www.locchiodiromolo.it/blog/wp-content/uploads/2012/03/Sadiktsis-et-al-Automobile-TiresPotential-Source-of-Highly-Carcinogenic-2012.pdf		
a. The	variability	in	PAH	concentrations	between	different	tires	is	large.	
b. Due	to	“leaching	of	PAHs	from	recycled	tire	rubber	material,	tires	are	a	source	of	environmental	
pollution	of	PAHs	through	their	entire	lifecycle.”	
3. Connecticut	Department	of	Environmental	Protection	(2010).	Artificial	Turf	Study:	Leachate	and	Stormwater	
Characteristics,	Final	Report.	Available	at:	
http://www.ct.gov/deep/lib/deep/artificialturf/dep_artificial_turf_report.pdf		
a. Stormwater	runoff	from	artificial	turf	contained	zinc,	manganese,	and	chromium	at	levels	toxic	to	
aquatic	organisms.		
b. Therefore,	there	is	a	potential	risk	to	surface	waters	from	the	installation	of	artificial	turf.		Zinc	levels	
could	cause	exceedance	of	acute	aquatic	toxicity	criteria.		This	risk	is	especially	high	for	smaller	
watercourses.		
c. Best	management	practices	and	treatment	(i.e.	wetlands,	wet	ponds,	infiltration	structures,	
compost	filter,	sand	filters,	or	biofiltration	structures)	should	be	used	for	stormwater	runoff	from	
artificial	turf	fields	that	discharge	to	surface	waters.		
4. Yaghoobian,	N.,	et	al.	(2010).	Modeling	the	thermal	effects	of	artificial	turf	on	the	urban	environment.	
Journal	of	Applied	Meteorology	and	Climatology,	49(3),	332-345.		
a. An	urban	temperature	model	showed	an	increase	in	local	atmospheric	temperatures	of	up	to	4°	C	
(39°	F)	in	areas	where	natural	grass	cover	had	been	replaced	with	artificial	turf.		
5. Han,	I.	K.,	et	al.	(2008).	Hazardous	chemicals	in	synthetic	turf	materials	and	their	bioaccessibility	in	digestive	
fluids.	Journal	of	Exposure	Science	and	Environmental	Epidemiology,	18(6),	600-607.		Available	at:	
http://www.nature.com/jes/journal/v18/n6/pdf/jes200855a.pdf	

Page 8 of 10

6.

7.

8.

9.

a. Zinc	was	found	to	exceed	soil	limits	and	the	leaching	rate	from	rubber	granules	was	up	to	20	times	
more	than	the	leaching	rate	from	agricultural	applications	of	manure	and	pesticides.		“Runoff	with	
high	Zn	[zinc]	from	synthetic	turf	fields	may	produce	adverse	effects	to	plants	and	aquatic	life.”		
KEMI,	Swedish	Chemicals	Agency	(2007).		Facts:	Synthetic	Turf.	April	2007.		Available:	
http://www2.kemi.se/upload/trycksaker/pdf/faktablad/fbsyntheticturf.pdf.		
a. Hazardous	substances	found	in	tires	may	persist	in	the	environment	including	polycyclic	aromatic	
hydrocarbons	(PAHs),	phthalates,	phenols,	and	certain	metals.			
b. Most	PAHs	are	persistent,	bioaccumulative	and	carcinogenic.				
c. Phthalates	and	phenols	are	not	chemically	bound	to	the	rubber	and	as	a	result	can	leach	from	the	
infill	material.			These	chemicals	are	persistent	and	bioaccumulative	and	can	have	long-term	effects	
on	the	environment.				
Meil,	J.,	&	Bushi,	L.	(2006).	Estimating	the	Required	Global	Warming	Offsets	to	Achieve	a	Carbon	Neutral	
Synthetic	Field	Turf	System	Installation.	Athena	Institute.	Ontario	Canada.	Available	at:	
http://sfrecpark.org/wp-content/uploads/AthenaICarbonOffsets.pdf		
a. Artificial	turf	systems	have	a	carbon	footprint	due	to	the	greenhouse	gases	emitted	during	the	life	
cycle	of	synthetic	turf	systems	compared	to	natural	grass	surfaces.	
b. To	achieve	a	10-year	carbon	neutral	synthetic	turf	installation,	1861	trees	would	need	to	be	planted	
to	offset	the	field’s	carbon	footprint.	
Källqvist,	T.	(2005).	Environmental	risk	assessment	of	artificial	turf	systems.	Norwegian	Institute	for	Water	
Research,	19.	
a. Recycled	rubber	varies	considerably	in	its	chemical	composition,	even	when	from	the	same	
manufacturer.	
b. Leaching	of	contaminants	from	artificial	turf	as	the	result	of	surface	water	runoff	from	precipitation	
is	a	great	risk	for	the	environment.		It	is	predicted	that	chemicals	leaching	from	synthetic	turf	
materials	occurs	slowly,	and	as	a	result	the	environmental	harms	may	take	place	over	many	years.	
There	is	also	a	level	of	“erosion”	that	takes	place	and	can	result	in	fine	particles	that	could	be	carried	
to	local	waterways.	Chemicals	have	even	been	shown	to	leach	from	the	artificial	turf	fibers.		
c. The	leachate	from	artificial	turf	can	contain	a	variety	of	metals	(including	lead,	cadmium,	copper,	
mercury	and	zinc)	and	organic	pollutants	(including	PAHs,	phthalates,	4-t-octylphenol	and	isononyphenol).		
d. The	runoff	from	an	artificial	turf	field	poses	“a	positive	risk	of	toxic	effects	on	biota	in	the	water	
phase	and	in	the	sediment.”		
e. Of	the	organic	compounds	at	issue,	octylphenol	represents	the	greatest	risk,	and	possibly	could	
occur	at	levels	where	hormone	disrupting	effects	are	a	concern.	
f. The	Norwegian	Institute	for	Water	Research	has	determined	that	it	is	“appropriate	to	perform	a	risk	
assessment	which	covers	water	and	sediments	in	watercourses	which	receive	run-off	from	artificial	
turf	pitches.”	
Thale,	S.W.	et	al.	(2004)	Potential	Health	and	Environmental	Effects	Associated	with	Synthetic	Turf	Systems-	
final	report.	Byggforsk,	Norwegian	Building	Research	Institute.		Available	at:	http://www.issssportsurfacescience.org/downloads/documents/vskyslv2qq_nbiengelsk.pdf	
a. While	recycled	rubber	is	a	greater	source	of	pollution,	newly	manufactured	rubber	also	contains	
levels	of	hazardous	substances;	in	the	case	of	zinc	and	chromium	the	levels	of	recycled	and	newly	
manufactured	rubber	are	comparable.	
b. The	synthetic	grass	fibers	can	also	be	a	significant	source	of	pollution,	albeit	significantly	lesser	
amounts	leach	from	the	synthetic	grass	than	the	rubber	infill		

Page 9 of 10

10. Tucker,	M.R.	(1997).	Ground	Rubber:	Potential	Toxicity	to	Plants.	Media	Notes	for	North	Carolina	Growers,	
North	Carolina	Dept.	of	Agriculture	&	Consumer	Services,	April	1997.		Available	at:	
http://www.ncagr.gov/agronomi/pdffiles/rubber.pdf		
a. When	talking	about	the	use	of	ground	rubber	as	a	supplement	to	planting	soils,	the	North	Carolina	
Department	of	Agriculture	and	Consumer	Services	sent	out	a	notice	identifying	the	risk	that	zinc	
leaching	from	the	rubber	causes	a	decline	in	plant	growth	“directly	attributable	to	zinc	toxicity.”	
11. Quoting	Dr.	Linda	Chalker-Scott,	Washington	State	University	-	Turfgrass	Resource	Center,	Facts	About	
Artificial	Turf	and	Natural	Grass.	(n.d.)	Available	at:	http://plasticfieldsfornever.org/ArtificialTurfBooklet.pdf		
a. “There	is	no	question	that	toxic	substances	leach	from	rubber	as	it	degrades,	contaminating	the	soil,	
flora,	and	fauna	and	aquatic	systems.”	
12. Turfgrass	Resource	Center	(n.d.)	Facts	About	Artificial	Turf	and	Natural	Grass.		Available	at:	
http://plasticfieldsfornever.org/ArtificialTurfBooklet.pdf		
a. Part	of	artificial	turf	maintenance	is	the	regular	replenishment	of	the	infill.		Some	of	the	infill	is	
merely	settling,	but	some	of	it	is	washing	away	or	literally	“walking	away”	with	players	after	use.		
The	effects	of	this	“runaway”	infill	are	unknown	and	more	research	is	needed	to	draw	conclusions–	
where	is	it	going	and	what	impacts	is	it	having?	
b. Maintenance	of	artificial	turf	can	include	application	of	algaecides	or	disinfectants	to	keep	the	
surface	clean	and	application	of	fabric	softener	to	mask	the	odor	of	the	artificial	turf.		What	is	the	
final	destination	of	these	chemicals	and	their	implications	for	the	environment	and	those	coming	
into	contact	with	them	while	playing	on	the	fields?			
c. There	is	no	indication	that	artificial	turf	drains	more	effectively	for	purposes	of	a	stormwater	
infiltration	system	than	natural	grass.		In	addition,	infiltration	systems	are	designed	to	work	with	
whatever	surface	coating	they	receive	from	natural	grass	to	porous	paving.		Although	there	is	no	
assumed	benefit	from	an	infiltration	perspective	of	natural	turf	or	artificial	turf,	in	many	cases	the	
complex	systems	designed	for	artificial	turf	fields	have	experience	problems,	work	incorrectly,	or	
inefficiently.	
	

Page 10 of 10

Fact Sheet

Artificial/Synthetic Turf
While professional sports are turning away from artificial turf, it is gaining ground and
use at the local level at schools and community fields. Producers of artificial turf
make claims of environment, health and safety benefits associated with artificial turf –
when they make these blanket claims they are not giving the full picture.
In terms of environment, health and safety, the jury is still very far out
on artificial turf. There continues to be information documenting harm in
each of these arenas. Most of all, there is a widespread demonstration
and recognition that in terms of environmental, health and safety threats
from artificial turf, much more study, analysis and consideration is
needed. And whatever the final outcome of the research, manufacturers neglect the
reality that as much as they try to mimic natural grass, artificial turf is not grass, and
cannot provide the same natural feel, natural look, natural smell and environmental
benefits that natural grass provides.
Artificial Turf is generally comprised of plastic fibers (generally made of polyethylene,
polypropylene or nylon) attached to a polypropylene or polyester plastic webbing. A
combination of sand and rubber, or sometimes rubber alone, fills between the fibers.
The source for the rubber infill is generally recycled tires. Sometimes newly
manufactured rubber granulate is used but the cost is so much greater than the
recycled tire form that it is generally not the substance used. New developments in
artificial turf technology seem continually in the works.
Water Quality:

While it seems well recognized that there is a limited level of assessment and
investigation into the environmental impacts associated with artificial turf, a growing
body of scientific analysis is documenting a concerning level of environmental threat
and harm and is further demonstrating the need for more research regarding artificial
turf and its ramifications for the environment.
Synthetic turf is generally made with rubber from waste tires. Recycled rubber varies
considerably in its chemical composition, even when from the same manufacturer.1
Hazardous substances found in tires may persist in the environment including
polycyclic aromatic hydrocarbons (PAHs), phthalates and certain metals. These
substances may be bioaccumulative, carcinogenic, reprotoxic, mutagenic and/or
endocrine disrupting.2 The chemicals in waste tires are of such concern that a report
published by the Swedish Chemicals Inspectorate recommends: “waste tyres should
not be used for synthetic turf surfaces.” 3
• Most PAHs are persistent, bioaccumulative and carcinogenic.4
• Phthalates are generally used as solvents and plasticisers in plastics. Phthalates
are not chemically bound to the rubber and as a result can leach from the infill
material.5
• Phenols likewise are not chemically bound to the rubber and so can leach.
Phenols too are persistent and bioaccumulative and can have long-term effects
on the environment.6
• Among the metals found in tires that may be of concern are zinc, lead, copper,
chromium and cadmium. While zinc and copper are essential for living
organisms, when absorbed at high levels they become harmful. Lead can affect
reproduction, development of the nervous system leading to poor cognitive
development, and is a particular threat to fetuses and young children.
Chromium is carcinogenic and mutagenic. Cadmium is toxic to humans and if
taken in can contribute to poor liver and kidney function, as well as
osteoporosis. 7
The Connecticut Agricultural Experiment Station conclusively found four compounds
which out-gassed and leached into water from synthetic turf rubber crumb under
ambient temperatures:
Ø Benzothiazole (a skin and eye irritant),
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 7.
2
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
3
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
4
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
5
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
6
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
7
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
1

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Artificial Turf Fact Sheet, 9/9/07

Ø Butylated hydroxyanisole (a “recognized carcinogen, suspected endocrine
toxicant, gastrointestinal toxicant, immune toxicant, neurotoxicant, skin and
sense-organ toxicant”),
Ø n-hexadecane (a severe irritant) &
Ø 4-(t-octyl) phenol (“corrosive and destructive to mucous membranes”).8
As rubber degrades it can leach toxic substances which can contaminate soil, plants
and aquatic ecosystems.9 Study has concluded that the use of tires in artificial turf
has the potential to pollute our environment with PAHs, phenols and zinc10 and that
runoff from an artificial turf field draining to a local creek can pose “a positive risk of
toxic effects on biota in the water phase and in the sediment.”11 Other metal
contaminants found to leach from tire crumb rubber include zinc, selenium, lead and
cadmium.12 Zinc has also been shown to leach from the artificial turf fibers.13
Extreme temperatures or solvents are not needed to release these metals, volatile
organic compounds or semi-volatile organic compounds from the rubber in-fill of
artificial turf into the air or water – release takes place in ambient air and water
temperatures.14
Leaching of substances as the result of surface water runoff from precipitation has,
by some researchers, been predicted to be the greatest risk for the environment from
artificial turf. 15 Study shows there is a risk of local effects for aquatic and sediment
dwelling organisms in impacted water courses. 16 Recycled rubber, and associated
The Connecticut Agricultural Experiment Station, Examination of Crumb Rubber Produced from
Recycled Tires, August 2007; Environment & Human Health, Inc., Artificial Turf, Exposures to GroundUp Rubber Tires, 2007.
9
Quoting Dr. Linda Chalker-Scott, Washington State University -- Turfgrass Resource Center, Facts
About Artificial Turf and Natural Grass; T. Kallqvist, Norwegian Institute for Water Research(NIVA),
Environmental Risk Assessment of Artificial Turf Systems, December 2005, p. 17.; Connecticut
Agricultural Experiment Station, Examination of Crumb Rubber Produced from Recycled Tires.
10
T. Kallqvist, Norwegian Institute for Water Research(NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 5; T. Edeskar, Lulea University of Technology, Technical and
Environmental Properties of Tyre Shreds Focusing on Ground Engineer Application, 2004 as cited in
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
11
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 6.
12
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
13
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 17.
14
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
15
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 5; NIVA (The Norwegian Institute for Water Research),
Evaluation of the Environmental Risks of Synthetic Turf, 2005; KEM, Swedish Chemicals Agency, Facts:
Synthetic Turf, April 2007.
16
T. Kallqvist, Norwegian Institute for Water Research(NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 5; NIVA (The Norwegian Institute for Water Research),
Evaluation of the Environmental Risks of Synthetic Turf, 2005, as cited by KEM, Swedish Chemicals
8

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Artificial Turf Fact Sheet, 9/9/07

leachate, has been found to contain a variety of metals (including lead, cadmium,
copper, mercury and zinc), as well as organic pollutants such as PAHs, phthalates, 4-toctylphenol and iso-nonyphenol. 17 The leaching of zinc has been determined to be of
major environmental concern.18 The leaching of zinc increases as the rubber infill
weathers over time,19 it is likely this is the same for other contaminants. While Zinc
contributes the most risk, phenols (specifically octylphenol) and PAHs are also of
concern. 20 Of the organic compounds at issue, Octylphenol represents the greatest
risk, and possibly could occur at levels where hormone disrupting effects are a
concern. 21 The varying content of tires makes this threat a moving target.
The Norwegian Institute for Water Research has determined that it is “appropriate to
perform a risk assessment which covers water and sediments in watercourses which
receive run-off from artificial turf pitches.”22
While recycled rubber is a greater source of pollution, newly manufactured rubber also
contains level of hazardous substances; in the case of zinc and chromium the levels of
recycled and newly manufactured rubber are comparable.23
It is predicted that chemicals leaching from synthetic turf materials occurs slowly, and
as a result the environmental harms may take place over many years.24
Leaching may not be the only source of water contamination from artificial turf. As
the artificial turf is used there is a level of “erosion” that takes place and can result in

Agency, Facts: Synthetic Turf, April 2007; KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April
2007
17
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 7.
18
INTRON, Environmental and Health Risks of Rubber Infill, rubber crumb from car tyres as infill on
artificial turf, February 9, 2007.
19
INTRON, Environmental and Health Risks of Rubber Infill, rubber crumb from car tyres as infill on
artificial turf, February 9, 2007.
20
NIVA (The Norwegian Institute for Water Research), Evaluation of the Environmental Risks of
Synthetic Turf, 2005, as cited by KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
21
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 17.
22
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 8.
23
Byggforsk, SINTEF Building and Infrastructure, Potential Health and Environmental Effects Associated
with Synthetic Turn Systems, 2004, as referenced in KEM, Swedish Chemicals Agency, Facts: Synthetic
Turf, April 2007.
24
T. Kallqvist, Norwegian Institute for Water Research(NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 5; NIVA (The Norwegian Institute for Water Research),
Evaluation of the Environmental Risks of Synthetic Turf, 2005, as cited by KEM, Swedish Chemicals
Agency, Facts: Synthetic Turf, April 2007.
Page 4 of 13
Artificial Turf Fact Sheet, 9/9/07

fine particles that could be carried to local waterways. This source of contamination
needs study.25
The synthetic grass fibers can also be a significant source of pollution, particularly
zinc, albeit significantly lesser amounts leach from the synthetic grass than the rubber
infill.26
Concerns about the environmental and health effects of synthetic turf in European
countries is so great that standards and/or guidelines have been set or are under
consideration. For example: Germany has set standards for the use of synthetic turf
including a maximum allowable level of pollution or contamination of water and soil,
with a requirement of regular sampling to ensure these standards are not exceeded.
Allowable pollution levels include: lead 0.04 mg/l, cadmium 0.005 mg/l; chromium
0.05 mg/l, mercury 0.001 mg/l and zinc 3.0 mg/l or 0.5 mg/l depending on the
testing method used. 27 Holland has also suggested appropriate language for a
standard applicable to use of synthetic turf including a ban on the use of carcinogens,
mutagenic, reprotoxic, persistent, bioaccumulative and toxic, or very persistent and
very bioaccumulative substances in the surface layer of the turf and a limitation on
the level of substances in the rubber infill that may cause cancer, may cause heritable
genetic damage, may cause cancer by inhalation, are toxic or harmful to aquatic
organisms or may cause long term affects on the aquatic environment, that may
impair fertility or cause harm to unborn children. Sweden has set guidelines and
limiting values for some of the substances that are present in synthetic turf,
specifically as it relates to air pollution, soil contamination and water pollution. 28 And
because vehicle tires contain levels of several substances of “very high concern”, the
recycling and use of tires in synthetic turf is apparently in conflict with the Swedish
environmental objective of A Non Toxic Environment.29
Part of artificial turf maintenance is the regular replenishment of the infill. There is a
need for research into the loss of existing infill – where is it going and what impacts is
it having?30
Maintenance of artificial turf can include application of algaecides or disinfectants to
keep the surface clean. 31 Maintenance could also include application of fabric
T. Kallqvist, Norwegian Institute for Water Research (NIVA), Environmental Risk Assessment of
Artificial Turf Systems, December 2005, p. 18.
26
Byggforsk, SINTEF Building and Infrastructure, Potential Health and Environmental Effects Associated
with Synthetic Turn Systems, 2004, as referenced in KEM, Swedish Chemicals Agency, Facts: Synthetic
Turf, April 2007.
27
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
28
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
29
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
30
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
25

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Artificial Turf Fact Sheet, 9/9/07

softener to mask the odor of the artificial turf. 32 What is the final destination of
these chemicals and their implications for the environment and those coming into
contact with them while playing on the fields? More information is needed on this
subject as well.
Stormwater:
There is no indication that artificial turf drains more effectively for purposes of a
stormwater infiltration system than natural grass. In addition, infiltration systems are
designed to work with whatever surface coating they receive from natural grass to
porous paving. It should be noted that while generally there can be no assumed
benefit from an infiltration perspective of natural turf or artificial turf, there are
instances where schools have experienced problems with the drainage of their artificial
turf fields. 33
Natural grass provides a level of evapotranspiration, pulling water out of the soil and
subsurface and releasing it to the air, providing benefits in reducing the volume of
runoff that results from a site and/or needs to be addressed by other stormwater
management strategies. Artificial turf has no evapotranspiration capabilities.
Grass does provide a level of pollution filtering and therefore water quality protection
for nearby waterways. While this filtering may be limited in the case of turf grass;
such filtering is nonexistent with artificial turf.
Heat Island Effect – for Human Health and Surrounding communities:
Extreme heat is a health concern. Studies document that the surface temperature on
artificial turf is dramatically increased as compared to surrounding land uses including
asphalt.
In a 2002 study it was found that “the surface temperature of the synthetic turf was
37° F higher than asphalt and 86.5° F hotter than natural turf.” 34 A study published
in the Journal of Health and Physical Education and Recreation showed “surface
temperatures as much as 95 to 140 degrees Fahrenheit higher on synthetic turf than
natural turfgrass when exposed to sunlight.” 35 Random sampling at Brigham Young
University identified temperatures ranging from 117.38 to 157 degrees on artificial
turf while neighboring natural grass areas were in the range of 78.19 to 88.5 degrees
Fahrenheit. “Two inches below the synthetic turf surface was 28.5° F hotter than
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
33
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
34
Dr. C. Frank Williams and Dr. Gilbert E. Pulley, Synthetic Surface Heat Studies, Brigham Young
University.
35
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
31
32

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Artificial Turf Fact Sheet, 9/9/07

natural turf at the surface.”36 And still another study comparing temperatures on
artificial turf temperatures with air temperature found that artificial turf ranged from
58 to 75 degrees hotter than measured air temperature.37 While irrigation provided
significant cooling for the synthetic turf (lowering the temperature from 174° F to
85° F) after only 5 minutes the temperature quickly rose again to 120°F; after 20
minutes it rose to 164°F.38
Concerns regarding the excessive temperatures range from the implications for
players who are already exerting themselves playing in such excessively high
temperatures, to the implications for burns when players or pedestrians come into
contact with the hot surfaces, to the implications for small children who may come
into contact with the extremely hot surfaces during non-sporting events. Particularly
when installed in already built up areas, what affect does the extreme heat associated
with artificial turf have on the surrounding community in terms of temperature?
Natural grass, by comparison, provides a natural cooling affect and helps to dissipate
heat from neighboring developed areas.39 “The temperature of natural grass rarely
rises above 85 degrees Fahrenheit, regardless of air temperature.” 40
The heat impacts of artificial turf need to be considered in the context of today’s
changing climate. Global climate change is expected to dramatically increase the
number of days over 100 degrees communities in our region experience. Depending
on how aggressively global warming gasses are reduced in coming years, communities
nearby Philadelphia will begin to experience in the range of 10 days (in lower emission
scenarios) to 30 days (if higher emission scenarios continue to prevail) over 100o.41
By later in this century seasonable temperatures are projected to rise 6oF to 14oF in

summer (depending again on emission reductions achieved in the future). 42
Educators and decisionmakers selecting artificial turf based on its long-term
viability and community impacts should consider the affect of global climate
change to magnify the heat impacts of artificial turf.
Dr. C. Frank Williams and Dr. Gilbert E. Pulley, Synthetic Surface Heat Studies, Brigham Young
University.
37
T. Sciacca, The Thermal Physics of Artificial Turf, January 2008.
38
Dr. C. Frank Williams and Dr. Gilbert E. Pulley, Synthetic Surface Heat Studies, Brigham Young
University.
39
James B. Beard & Robert L. Green, The Role of Turfgrasses in Environmental Protection and Their
Benefits to Humans, J. Environ Qual. 23:452-460 (1994).
40
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
41
Union of Concerned Scientists, Confronting Climate Change in the U.S. Northeast l New Jersey,
2007.
42
Union of Concerned Scientists, Confronting Climate Change in the U.S. Northeast l New Jersey,
2007.
36

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Artificial Turf Fact Sheet, 9/9/07

Health Issues:
Direct human exposure to the hazardous substances contained in the rubber in-fill of
artificial turf is believed to occur via three pathways: inhalation, skin contact, or
ingestion including by children or infants who come into contact with the material.43
In October 2006 and January 2007, respectively, two sites in New York where
synthetic turf has been used (the large, 3 year old, Parade Ground in Brooklyn; the
relatively small 5 month old Sara D. Roosevelt Park in Manhattan) were analyzed. This
testing found PAHs at hazardous levels (as per New York standards) at each of the
sites. At both sites dibenzo (a.h)anthracene, a probable human carcinogen, was found
at hazardous levels, with two other PAH forms, both possible human carcinogens,
found at hazardous levels at the Parade Ground site. Research into the pathways by
which these substances may be absorbed into the bodies of children and athletes via
skin contact, ingestion or other pathways, is very limited with additional research
needed.44
A study by the California Office of Environmental Health Hazard Assessment (OEHHA)
summarized 46 studies that identified 49 chemicals which are released from tire
crumb. Of the 49, “seven of the chemicals leached from tire shreds were carcinogens.
OEHHA calculated a cancer risk of 1.2 in 10 million based on a one-time ingestion of
the tire crumb rubber over a lifetime.”45 While there are limited studies which assert
that recycled tire crumb are stable in the gastrointestinal tract and that therefore this
is not a pathway for exposure, there are other studies which contradict these
findings.46
Concerns have been raised about the potential implications of recycled tire in-fill for
individuals with latex allergies and that inhalation could result in a systemic response,
as opposed to a contact response.47
While, “the status of the information about human exposures to recycled tire crumb
rubber in-fill … is not sufficient to determine the safety of the use of the product in
situations that involve continuous episodes of human exposure;” 48 “the available

Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
Rachel’s’ Democracy & Health News #992, Hazardous Chemicals in Synthetic Turf, Follow-up
Analyses, April 12, 2007.
45
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007 citing
California Office of Environmental Health Hazard Assessment (OEHHA), Evaluation of Health Effects of
Recycled Waste Tires in Playground and Track Products, January, 2007.
46
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
47
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
48
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
43
44

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Artificial Turf Fact Sheet, 9/9/07

information is sufficient and strong enough to raise plausible questions with respect to
acute toxicity for susceptible persons, and for cancer risks.”49
There is great debate about whether artificial turf can increase exposure to, and
infection from, MRSA (methicillin-resistant staphylococcus aureus). Reports including
a December 21, 2007 article in the Bloomberg Press reporting the affliction of an 18
year old football player from MRSA as the result (according to the boy’s doctor) of an
abrasion he received from playing on artificial turf, and citing other findings linking
MRSA infections with artificial turf,50 are a great concern for parents and sports
players alike. Defenders of artificial turf often refer to studies like that of the Penn
State Department of Crop and Soil Sciences which finds that Staphylococcus aureus is
commonplace in the human environment, including on both artificial turf and natural
grass fields.51 But even this study acknowledges that there is no conclusive evidence
currently available that the source of bacteria causing the infections of sports players
is not artificial turf. In addition, the study does not consider the link between burns
sustained while playing on artificial turf and available bacteria as a pathway for
infection. New studies are emerging that demonstrate that turf burns may be
facilitating infection by acting as a pathway for infection.52 Study has found that turf
burns increased the risk of infection regardless of the type and timing of care
provided the burn. 53
Concussions (formally described as Mild Traumatic Brain Injury or MTBI) resulting from
sports has, according to the US Centers for Disease Control, reached “epidemic
proportions.”54 “’Mild’ head traumas, and especially a series of such minor
concussions can have long term, negative effects on cognitive function.” 55 Study has
documented that artificial turf increases the risk of MTBI over natural turf,
Environment & Human Health, Inc., Artificial Turf, Exposures to Ground-Up Rubber Tires, 2007.
Texas Football Succumbs to Virulent Staph Infection from Turf, December 21, 2007, Bloomberg
Press.
51
Penn State Department of Crop and Soil Sciences, A Survey of Microbial Populations in Infilled
Synthetic Turf Fields.
52
A High Morbidity Outbreak of Methicillin-Resistant Staphylococcus aureus among Players on a College
Football Team, Facilitated by Cosmetic Body Shaving and Turf Burns, study conducted 2004 for
Connecticut Dept of Public Health, Student Health Services of Sacred Heart Univ, Centers for Disease
Control and Prevention, Minnesota Dept of Public Health, Los Angeles County Dept of Health Svces; Dr.
S.V. Kazakova et.al., A Clone of Methicillin-Resistant Staphylococcus aureus among Professional Football
Players, The New England Journal of Medicine, Vol 352:468-475 No. 5, Feb. 3, 2005.
53
A High Morbidity Outbreak of Methicillin-Resistant Staphylococcus aureus among Players on a College
Football Team, Facilitated by Cosmetic Body Shaving and Turf Burns, study conducted 2004 for
Connecticut Dept of Public Health, Student Health Services of Sacred Heart Univ, Centers for Disease
Control and Prevention, Minnesota Dept of Public Health, Los Angeles County Dept of Health Svces.
54
Dr. M. Shorten, J.A. Himmelsbach, BioiMechanica, Sports Surfaces and the Risk of Traumatic Brain
Injury citing the US Centers for Disease Control.
55
Dr. M. Shorten, J.A. Himmelsbach, BioiMechanica, Sports Surfaces and the Risk of Traumatic Brain
Injury.
49
50

Page 9 of 13
Artificial Turf Fact Sheet, 9/9/07

approximately doubling that risk, as well as causing a greater degree of trauma.56
According to study, artificial turf presents a 5 times greater risk of the more severe
head injury than natural turf, although it is still unknown the particular characteristics
of the two surfaces that cause the difference in head injury incidence. 57
Costs:
It is generally agreed that artificial turf costs more to install than natural grass, while
natural grass costs more to maintain. Installation and maintenance costs for each
must be assessed on a case by case basis depending on site specific conditions. But
generally speaking, when the installation and maintenance costs of artificial turf are
assessed for the life span of the turf, particularly when the cost of disposal is added,
the cost of installing and maintaining natural grass is far less. The guaranteed life
and/or lifespan of artificial turf is 8 to 10 years.58 Some attempt to claim a longer life
in order to assert a lower annual cost.59 Comparative cost figures for artificial turf
and natural grass include:
Artificial Turf

Source: San Francisco
Rec and Parks 60
Installation
Annual Maintenance
Cost of Disposal
Average annual cost for
guaranteed life of 8 years.
Average annual cost for life
of 10 years
Average annual cost for life
of 15 years (maximum life
span seen asserted in the

Natural Grass

$800,000

$260,000

$6,000
Unknown but significant as a
hazardous waste
$106,000

$42,000
$0

$86,000

$68,000

$59,333

$59,333

$74,500

Dr. M. Shorten, J.A. Himmelsbach, BioiMechanica, Sports Surfaces and the Risk of Traumatic Brain
Injury.
56

Dr. M. Shorten, J.A. Himmelsbach, BioiMechanica, Sports Surfaces and the Risk of Traumatic Brain
Injury. See also K.M. Guskiewica, N.L. Weaver, D.A. Padua, W.E. Garrett Jr., Epidemiology of Concussion
in Collegiate and High School Football Players, Sep-Oct 2000 & Does the Use of Artificial Turf
Contribute to Head Injuries, The Journal of Trauma-Injury, Infection and Critical Care, Oct 2002 for the
finding that artificial turf increases the level of injury in comparison to natural grass fields.
58
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
59
San Francisco Recreation & Parks, Natural and Synthetic Turf: A Comparative Analysis, December 20,
2005.
60
San Francisco Recreation & Parks, Natural and Synthetic Turf: A Comparative Analysis, December 20,
2005.
57

Page 10 of 13
Artificial Turf Fact Sheet, 9/9/07

literature)

Source: Facts About
Artificial Turf and
Natural Grass 61
Cost of construction and
maintenance per sq. ft.

Cost of disposal per sq. ft.
Springfield College case
study installation and
maintenance average annual
cost during 8 year
guaranteed life of artificial
turf – no disposal costs
included

Source: A Guide to
Synthetic and Natural
Turfgrass for Sports
Fields. 62
Cost of installation per
square foot

Annual Maintenance
Disposal per square foot –
note this cost does not
include the cost of
transportation or landfill

$7.80 – $10.75

$1.75 - $2.25
$105,000
($800,000 install & annual
maintenance of $5,000)
For a 10 year life the figure
is $85,000;
for 15 years it is $58,377

$7.80 to $10.75

$5,000 to $25,000
$1.75 to $2.25

With high quality soil
amendments
$6.50 – $7.95
With native soils
$2.50 – $5.25
$0
$78,000
($400,000 install &
$28,000 annual
maintenance)
For a 10 year life the figure
is $68,000;
for 15 years it is $54,666

$2.50 to $5.25 if done with
native soils
$3.50 to $5.25 if done with
combination of native soils
and sand.
$6.50 to $7.95 if done with
sand and drainage
$4,000 to $11,000 as per
the case studies provided
$0

Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations. While the cost figures in this document focus
on the southeast, the figures provide a sound comparative for the relative cost figures provided.
61
62

Page 11 of 13
Artificial Turf Fact Sheet, 9/9/07

surcharges for
environmentally controlled
products
Artificial turf made from rubber contains a number of hazardous substances. As a
result disposal is neither easy nor cheap. It is important to identify and consider the
cost of disposal when considering an investment in artificial turf. The life expectancy
of artificial turf generally ranges from 8 to 10 years63 – therefore disposal of artificial
turf should be amortized over this time frame.
Miscellaneous:
Artificial Turf is available for use immediately upon installation. Natural Turf generally
requires 2 growing seasons before it should be heavily used.64
One of the biggest supporting assertions for artificial turf is the increased level of
playing time it provides. While natural grass may not equal artificial turf in playing
time, natural soil and grass science has progressed significantly, greatly increasing its
durability for sports. Modern natural grass sports fields include sand in their soil
profile to resist compaction and a combination of grass varieties. Natural grass is
becoming the preferred surface for a number of professional sports teams.
Natural grass fields require regular maintenance including, mowing and watering, and
may also result in the use of fertilizers and potentially herbicides. But there are less
environmentally harmful alternatives available for maintenance including electric
mowing equipment and environmentally sensitive lawn care strategies that do not rely
on environmentally harmful chemicals. A number of schools, including Radnor
Township, Delaware County, PA, have successful policies that prevent the use of
dangerous chemicals on school grounds.
Artificial turf also requires regular maintenance. Artificial turf maintenance includes
sweeping, dragging and watering to provide a clean and uniform appearance.65 In
addition, as the result of wear, the infill may need periodic replenishment. 66
Management of an artificial turf field requires special knowledge inseam repair and
snow removal. 67 Special solvents and cleansers are needed to remove tough debris. 68
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
Communication with Nancy Bosold, Extension Educator, Turfgrass Management, Penn Stat
Cooperative Extension, Berks County, Aug 15, 2007.
65
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
66
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
67
SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
63
64

Page 12 of 13
Artificial Turf Fact Sheet, 9/9/07

Artificial turf is at risk of damage from plastic bottles, cigarettes and/or gum as well
as general trash thrown on the field. When damaged special repairs may be needed.
Artificial turf also becomes a recipient of a variety of bodily fluids which cannot be
cleansed by natural action as is the case with natural grass. Maintenance can include
application of algaecides and fabric softener to mask the odor of the artificial turf. 69
Artificial turf systems that claim chemical treatment is not required do not seem to
provide a mechanism for handling the germs associated with the bodily fluids on the
turf when there is an absence of rain or when it is captured and reused in newly
emerging artificial turf cooling systems.
It is important to note that the environmental, health and safety impacts
of artificial turf are in need of further study by independent experts.
Until such time as there are conclusive findings regarding the
environmental, health and safety impacts of artificial turf the
Precautionary Principle would direct decisionmakers away from artificial
turf and towards the traditional use of natural grass for sports and public
play fields.

Updated: February 25, 2008
Dated: September 9, 2007

SportsTurf Managers Association, A Guide to Synthetic and natural Turfgrass for Sports Fields,
Selection, Construction and Maintenance Considerations.
69
Turfgrass Resource Center, Facts About Artificial Turf and Natural Grass.
68

Page 13 of 13
Artificial Turf Fact Sheet, 9/9/07

	
  
	
  
	
  
	
  
	
  
	
  
	
  
	
  
Artificial	
  Turf	
  Fact	
  Sheet	
  Temporary	
  Addendum.	
  
	
  
Chrysene,	
  a	
  PAH	
  and	
  carcinogen,	
  was	
  found	
  to	
  be	
  ingested	
  as	
  the	
  result	
  of	
  hand-­‐to-­‐surface-­‐to-­‐mouth	
  
transfer	
  from	
  playground	
  surfaces	
  made	
  with	
  recycled	
  tires.	
  	
  Assuming	
  playground	
  use	
  for	
  an	
  11	
  year	
  
period	
  (from	
  age	
  1	
  to	
  12)	
  there	
  was	
  found	
  to	
  be	
  an	
  increased	
  cancer	
  risk	
  of	
  2.9	
  in	
  one	
  million	
  	
  
(2.9	
  X	
  10-­‐6).	
  	
  This	
  risk	
  is	
  greater	
  than	
  the	
  general	
  cancer	
  risk	
  gauge	
  of	
  one	
  in	
  one	
  million	
  (1X10-­‐6).1	
  	
  This	
  
research	
  would	
  seem	
  to	
  suggest	
  that	
  repeat	
  exposure	
  over	
  time	
  to	
  the	
  chemicals	
  released	
  from	
  
artificial	
  turf	
  increases	
  the	
  associated	
  increase	
  in	
  cancer	
  risk.	
  
	
  
Only	
  31%	
  of	
  the	
  playground	
  surfaces	
  made	
  of	
  recycled	
  tires	
  tested	
  in	
  one	
  research	
  study	
  passed	
  the	
  
California	
  State	
  mandated	
  Head	
  Impact	
  Criterion	
  (HIC)	
  of	
  <1,000.	
  	
  In	
  this	
  same	
  study	
  100%	
  of	
  the	
  
playground	
  surfaces	
  made	
  of	
  wood	
  chips	
  passed	
  the	
  same	
  standard.	
  2	
  
	
  
When	
  talking	
  about	
  the	
  use	
  of	
  ground	
  rubber	
  as	
  a	
  supplement	
  to	
  planting	
  soils	
  the	
  North	
  Carolina	
  
Department	
  of	
  Agriculture	
  and	
  Consumer	
  Services	
  sent	
  out	
  a	
  notice	
  identifying	
  the	
  risk	
  that	
  zinc	
  
leaching	
  from	
  the	
  rubber	
  causes	
  a	
  decline	
  in	
  plant	
  growth	
  “directly	
  attributable	
  to	
  zinc	
  toxicity.”3	
  
	
  
A	
  Case	
  Study	
  conducted	
  by	
  a	
  group	
  of	
  “physicians	
  and	
  public	
  health	
  professionals	
  working	
  with	
  the	
  U.S.	
  
Environmental	
  Protection	
  Agency’s	
  Region	
  Pediatric	
  Environmental	
  Health	
  Specialty	
  Unit”	
  found	
  that	
  
they	
  could	
  not	
  secure	
  the	
  research	
  and	
  information	
  necessary	
  to	
  establish	
  the	
  safety	
  in	
  use	
  with	
  

Office of Environmental Health Hazard Assessment, Evaluation of Health Effects of Recycled Waste
Tires in Playground and Track Products, January 2007.	
  Note	
  -­‐-­‐	
  the	
  1.2	
  in	
  10	
  million	
  cancer	
  risk	
  found	
  in	
  the	
  
OEHHA	
  study	
  was	
  considered	
  by	
  the	
  authors	
  to	
  be	
  an	
  acceptable	
  level	
  of	
  risk	
  as	
  it	
  falls	
  below	
  the	
  general	
  cancer	
  risk	
  gauge	
  
-­‐6
of	
  one	
  in	
  one	
  million	
  (1X10 ).
2
Office of Environmental Health Hazard Assessment, Evaluation of Health Effects of Recycled Waste
Tires in Playground and Track Products, January 2007. Please note that in this study 32 recycled tire
playground surfaces were tested as compared to only 5 wood chip playground surfaces.
3
M. Ray Tucker, Agronomist, Ground Rubber: Potential Toxicity to Plants, Media Notes for North
Carolina Growers, North Carolina Dept of Agriculture & Consumer Services, April 1997.
1

children	
  of	
  tire	
  crumb	
  used	
  as	
  playground	
  surface.4	
  	
  “The	
  use	
  of	
  recycled	
  tire	
  crumb	
  products	
  on	
  
playgrounds	
  has	
  had	
  little	
  health	
  investigation.	
  	
  The	
  major	
  unresolved	
  concern	
  is	
  the	
  potential	
  for	
  latex	
  
allergy	
  with	
  short-­‐term	
  dermal	
  exposure.”	
  5	
  	
  “No	
  published	
  information	
  is	
  available	
  specifically	
  
regarding	
  exposure	
  to	
  crumb	
  rubber	
  constituents	
  from	
  use	
  of	
  the	
  product	
  on	
  playgrounds.”	
  6	
  
	
  
Analyses	
  conducted	
  at	
  the	
  Environmental	
  and	
  Occupational	
  Health	
  Sciences	
  Institute	
  of	
  Rutgers	
  
University	
  found	
  the	
  crumb	
  rubber	
  from	
  artificial	
  turf	
  to	
  contain	
  high	
  levels	
  of	
  PAHs,	
  as	
  well	
  as	
  zinc	
  and	
  
arsenic.7	
  	
  PAHs	
  found	
  to	
  be	
  contained	
  in	
  the	
  crumb	
  rubber	
  “were	
  above	
  the	
  concentration	
  levels	
  that	
  
the	
  New	
  York	
  State	
  Department	
  of	
  Environmental	
  Conservation	
  (DEC)	
  considers	
  sufficiently	
  hazardous	
  
to	
  public	
  health	
  to	
  require	
  their	
  removal	
  from	
  contaminated	
  soil	
  sites.	
  It	
  is	
  highly	
  likely	
  that	
  all	
  six	
  PAHs	
  
are	
  carcinogenic	
  to	
  humans.”	
  8	
  	
  	
  “The	
  analyses	
  also	
  revealed	
  levels	
  of	
  zinc	
  in	
  both	
  samples	
  that	
  exceed	
  
the	
  DEC's	
  tolerable	
  levels.”	
  9	
  	
  	
  The	
  researchers	
  associated	
  with	
  these	
  findings	
  were	
  careful	
  to	
  state	
  “We	
  
want	
  to	
  emphasize	
  that	
  the	
  findings	
  are	
  preliminary.	
  PAHs	
  in	
  rubber	
  might	
  not	
  act	
  the	
  same	
  way	
  as	
  in	
  
soil,	
  and	
  we	
  do	
  not	
  yet	
  have	
  information	
  on	
  the	
  ease	
  with	
  which	
  the	
  PAHs	
  in	
  these	
  rubber	
  particles	
  
might	
  be	
  absorbed	
  by	
  children	
  or	
  adults	
  -­‐-­‐	
  by	
  ingestion,	
  inhalation,	
  or	
  absorption	
  through	
  the	
  skin.	
  
However,	
  the	
  findings	
  are	
  worrisome.	
  Until	
  more	
  is	
  known,	
  it	
  wouldn't	
  be	
  prudent	
  to	
  install	
  the	
  
synthetic	
  turf	
  in	
  any	
  more	
  parks.”	
  10	
  
	
  

M.E. Anderson et al, A Case Study of tire Crumb Use on Playgrounds: Risk Analysis and
Communication When Major Clinical Knowledge Gaps Exist, Environmental Health Perspectives, Vol 114,
No. 1, January 2006.
5
M.E. Anderson et al, A Case Study of tire Crumb Use on Playgrounds: Risk Analysis and
Communication When Major Clinical Knowledge Gaps Exist, Environmental Health Perspectives, Vol 114,
No. 1, January 2006.
6
M.E. Anderson et al, A Case Study of tire Crumb Use on Playgrounds: Risk Analysis and
Communication When Major Clinical Knowledge Gaps Exist, Environmental Health Perspectives, Vol 114,
No. 1, January 2006.
7
Junfeng Zhang, professor and acting chair, Department of Environmental and Occupational Health,
the School of Public Health, the University of Medicine and Dentistry of New Jersey and Rutgers
University & William Crain, professor of psychology at The City College of New York, president of
Citizens for a Green Riverside Park, Hazardous Chemicals in Synthetic Turf, 2006, analyses conducted
at at the Environmental and Occupational Health Sciences Institute of Rutgers.
8
Junfeng Zhang, professor and acting chair, Department of Environmental and Occupational Health,
the School of Public Health, the University of Medicine and Dentistry of New Jersey and Rutgers
University & William Crain, professor of psychology at The City College of New York, president of
Citizens for a Green Riverside Park, Hazardous Chemicals in Synthetic Turf, 2006, analyses conducted
at at the Environmental and Occupational Health Sciences Institute of Rutgers.
9
Junfeng Zhang, professor and acting chair, Department of Environmental and Occupational Health,
the School of Public Health, the University of Medicine and Dentistry of New Jersey and Rutgers
University & William Crain, professor of psychology at The City College of New York, president of
Citizens for a Green Riverside Park, Hazardous Chemicals in Synthetic Turf, 2006, analyses conducted
at at the Environmental and Occupational Health Sciences Institute of Rutgers.
10
Junfeng Zhang, professor and acting chair, Department of Environmental and Occupational Health,
the School of Public Health, the University of Medicine and Dentistry of New Jersey and Rutgers
University & William Crain, professor of psychology at The City College of New York, president of
Citizens for a Green Riverside Park, Hazardous Chemicals in Synthetic Turf, 2006, analyses conducted
at at the Environmental and Occupational Health Sciences Institute of Rutgers.
4

Connecticut	
  is	
  currently	
  considering	
  legislation	
  to	
  provide	
  $250,000	
  of	
  funding	
  for	
  a	
  study	
  into	
  the	
  
toxicity	
  of	
  artificial	
  turf	
  athletic	
  fields.11	
  
	
  
One	
  Norwegian	
  assessment/presentationconcluded	
  that	
  while	
  indoor	
  artificial	
  turf	
  fields	
  were	
  not	
  
generally	
  an	
  elevated	
  health	
  risk,	
  studies	
  to	
  date	
  could	
  not	
  eliminate	
  the	
  concerns	
  associated	
  with	
  
development	
  of	
  airway	
  allergies	
  and	
  made	
  a	
  point	
  of	
  noting	
  “a	
  link	
  between	
  exposure	
  to	
  phthalates	
  
and	
  the	
  development	
  of	
  asthma/allergies”.	
  12	
  	
  Phthalates	
  is	
  one	
  of	
  the	
  contaminants	
  of	
  concern	
  found	
  
in	
  artificial	
  turf	
  crumb	
  rubber.	
  13	
  
	
  
The	
  Norwegian	
  assessment/presentation	
  also	
  reported	
  that	
  “recycled	
  rubber	
  was	
  the	
  major	
  source	
  of	
  
potentially	
  hazardous	
  substances.	
  	
  An	
  exposure	
  scenario	
  where	
  the	
  runoff	
  from	
  a	
  football	
  field	
  is	
  
drained	
  to	
  a	
  small	
  creek	
  showed	
  a	
  positive	
  risk	
  of	
  toxic	
  effects	
  on	
  biota	
  in	
  the	
  water	
  phase	
  and	
  in	
  the	
  
sediment.	
  	
  The	
  risk	
  was	
  mainly	
  attributed	
  to	
  zinc,	
  but	
  also	
  for	
  octylphenol	
  the	
  predicted	
  environmental	
  
concentrations	
  exceeded	
  the	
  no	
  environmental	
  effect	
  concentration.”	
  14	
  	
  	
  The	
  hazardous	
  leaching	
  could	
  
result	
  in	
  local	
  environmental	
  effect.15	
  	
  	
  
	
  
Of	
  interest	
  –	
  William	
  Carin,	
  OpEd,	
  NY	
  Times,	
  Turf	
  Wars,	
  September	
  16,	
  2007.	
  

An Act Concerning a Study of the Toxicity of Artificial Turf Athletic Fields, Raised Bill No. 361,
February Session 2008.
12
Dr. Christine Bjorge, Norwegian Institute of Public Health, Artificial turf Pitches – an assessment of
the health risks for football players and the environment, Presentation at the ISSS Technical meeting
2006, Dresden.
13
KEM, Swedish Chemicals Agency, Facts: Synthetic Turf, April 2007.
14
Dr. Christine Bjorge, Norwegian Institute of Public Health, Artificial turf Pitches – an assessment of
the health risks for football players and the environment, Presentation at the ISSS Technical meeting
2006, Dresden.
15
Dr. Christine Bjorge, Norwegian Institute of Public Health, Artificial turf Pitches – an assessment of
the health risks for football players and the environment, Presentation at the ISSS Technical meeting
2006, Dresden.
11

Page 1 of 1

PUBLIC SUBMISSION

As of: 5/3/16 6:35 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8pem-rune
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0069
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Marc Elrich
Address: 20850
Email: [email protected]

General Comment
See attached file(s)

Attachments
ME comment re federal review of AT

https://www.fdms.gov/fdms/getcontent?objectId=0900006481fa18ec&format=xml&showor... 5/3/2016

MONTGOME RY COUNTY CO UNCI L
R O C K V I L L E , M A R Y L AN D
Comment on “Collections Related to Synthetic Turf Fields with Crumb Rubber Infill”
From: Montgomery County, Maryland Councilmember Marc Elrich (At-large)
Date: May 2, 2016
As an elected official, I have been confronted with the issue of whether artificial turf playing
fields are safe and whether public funds should be used to construct and maintain these fields. I
represent the almost one million residents of Montgomery County, Maryland; our county is one
of the wealthiest and best-educated counties in the country. My staff and I have grappled with
questions surrounding artificial turf for years, and the more we have examined the issue, the
more we realize how little is known and how few questions can be adequately answered.
I appreciate the attempt by the federal agencies to tackle this issue, and on behalf of many of my
constituents and based on years of reviewing research and conversations with scientists, parks
managers, school administrators, elected officials, residents and other concerned individuals, I
make the following comments, observations and requests. I have five major points and then
follow them with additional information to support those points.
1. Clarify that the questions and goals outlined in this study will not answer the question of the
true safety/toxicity of AT with tire crumb infill. Characterizing chemical composition and
“exposure potential” are insufficient tools. This study will not satisfactorily answer the
question: are artificial turf fields safe for children to use over the long-term? An
epidemiological study is necessary. Only a long-term controlled epidemiological study could
provide meaningful answers about human safety. University of Washington soccer coach
Amy Griffin continues to collect names of soccer players, other athletes and other frequent
users of artificial turf fields (like marching band participants). This information raises
serious concern, and the federal agencies need to consider how they can collect information
that could analyze actual uses and outcomes.
2. Any and all toxicity studies must address and examine cumulative and combined effects of
toxic chemicals. Artificial turf contains a variety of chemicals that interact with each other
and in the body. Without studying their synergistic effects, the study will exclude some
important considerations. (See below for scientific comment on this issue.)
3. All potential health impacts should be viewed specifically and separately for children.
Studies should examine exposure for children. “Environmental exposure for children is quite
different. They take in much more of everything than adults. Their brains and nervous
systems are developing quite rapidly – referred to as “unique windows of vulnerability.”
(Joel Forman, MD, Mt. Sinai Medical School, Program Director of the Pediatric Residency

Program, Children's Environmental Health Center) Towards that end, I urge you to consult
extensively with Dr. Forman, Dr. Phillip Landrigan and other researchers associated with the
Childrens Environmental Health Center at Mt. Sinai Medical School.
4. For a federal study to be useful to local jurisdictions and residents, it must acknowledge and
address the myriad of issues and concerns that are inextricably intertwined. The chemical
composition of crumb rubber infill is an important issue, but it is not the only issue. The
blades, carpet, carpet backing and the color of the blades are all integral to any meaningful
assessment. Other issues should be examined and acknowledged: the heat impact for the
field users as well as serious environmental concerns, including the “heat island” effect and
impacts on waterways, aquatic life and wildlife.
5. Every step of the way, the involved federal agencies must be mindful of their possible biases.
I would refer you to the EPA website announcing this study: “Limited studies have not
shown an elevated health risk from playing on fields with tire crumb, but the existing studies
do not comprehensively evaluate the concerns about health risks from exposure to tire
crumb.” (https://www.epa.gov/chemical-research/federal-research-action-plan-recycled-tirecrumb-used-playing-fields) Such a statement is misleading and should be deleted. Results
from “limited studies” have been mixed. If “limited studies” refers to EPA’s prior studies, it
should be noted that they were not simply limited but also quite possibly flawed, and
therefore, not an appropriate basis for any general statements.
(http://www.peer.org/news/news-releases/epa-retracts-synthetic-turf-safety-assurances.html)

Additional information and commentary:
Regarding points 1 and 2 above:
How we think about levels of concern of chemicals is changing and evolving.
A recently published scientific paper, “What Can Epidemiological Studies Tell Us about the
Impact of Chemical Mixtures on Human Health?” explains:
“Although there is growing concern that exposure to chemical mixtures during critical
periods of human development could increase the risk of adverse health effects including
allergic diseases, cancer, neurodevelopmental disorders, reproductive disorders, and
respiratory diseases, researchers primarily study chemicals as if exposure occurs
individually. This one-chemical-at-a-time approach has left us with insufficient
knowledge about the human health effects of exposure to chemical mixtures.” [Emphasis
added.] http://ehp.niehs.nih.gov/15-10569/
Another study from 2015 suggests that the combination of “safe” chemicals may increase
cancer risk:
“Our analysis suggests that the cumulative effects of individual (non-carcinogenic)
chemicals acting on different pathways, and a variety of related systems, organs, tissues
and cells could plausibly conspire to produce carcinogenic synergies.” [Emphasis added.]
http://carcin.oxfordjournals.org/content/36/Suppl_1/S254.full?sid=db47f5ec-47a2-4879bf30-6da9c076003d#ref-8

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2

In commenting on the above study, the director of the National Institute of Environmental Health
Sciences, Linda Birnbaum (who was not involved in the study), said
“….We live in a chemical soup,…Considering the safety of individual chemicals is a lot like
looking at the trees, but missing the forest, Birnbaum said. When doing research to determine
chemical safety, “we’ve got to start thinking more about what reality is,” she said. This could
mean sweeping changes in rules about the levels of chemicals considered safe in drinking water,
food, and air. I’d like to see regulators and policy makers start looking at the totality of the
exposure instead of one chemical at a time,” she said. [Emphasis added.] (“Combinations of
'safe' chemicals may increase cancer risk, study suggests,” Los Angeles Times, by Sasha HarrisLovett, 7/1/15 http://www.latimes.com/science/sciencenow/la-sci-sn-chemical-combinationssafety-cancer-20150626-story.html)
While the 2015 report is important and significant, this general idea and information is not new.
As the President’s Cancer Panel pointed out in its 2008-2009 annual report, federal
environmental laws not only leave many known carcinogens completely unregulated, they also
“fail to address the potential hazards of being exposed to combinations of chemicals”. [Emphasis
added] (Environmental Working Group, http://www.ewg.org/research/rethinkingcarcinogens/executive-summary)
The true impact of chemical exposure could take decades to be measured.
A telling example is a study of 9,300 daughters born to mothers who had been exposed to the
pesticide DDT, which was banned in 1972 because of its effects on the environment, especially
the eggs of the bald eagle. EPA labeled DDT as a probable carcinogen, and multiple studies
linked DDT exposure to breast cancer, but then a 2014 meta-analysis found no significant
association. But then this mother-daughter study showed that the prior studies were looking at
the wrong generation – the daughters of women exposed to DDT - were associated with almost a
fourfold increase in breast cancer, independent of the mother's history of breast cancer. The
study, which covered a span of 54 years, also determined that those with higher levels of
exposure were diagnosed with more advanced breast cancer. The study results are dramatic, but
they took 54 years. (“Startling link between pregnant mother’s exposure to DDT and daughter’s
risk of breast cancer,” by Ariana Eunjung Cha, The Washington Post, 6/17/15
https://www.washingtonpost.com/news/to-your-health/wp/2015/06/16/ddts-breast-cancer-legacypregnant-mothers-exposure-linked-to-four-fold-increase-in-daughters-risk/ and
http://press.endocrine.org/doi/10.1210/jc.2015-1841)
You will not have “safety” answers in 2016 or one or two years later. Please acknowledge this
fact and address epidemiological questions.
Further points to consider:
Federal agencies should not reference “prior studies” without including and acknowledging the
following studies, which raise serious concern about artificial turf. One study raises the
possibility of inhalable lead.
The study states “…if the lead is present to any appreciable extent in the wipes it will likely
be present in the breathing zone of players who are active on these fields, and that
furthermore, these levels potentially exceed ambient EPA standards. (“An Evaluation of

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3

Potential Exposures to Lead and Other Metals as the Result of Aerosolized Particulate
Matter from Artificial Turf Playing Fields Submitted to:Alan Stern, Dr.P.H. New Jersey
Department of Environmental ProtectionSubmitted by: Stuart L. Shalat, Sc.D. (July 14,
2011) http://www.nj.gov/dep/dsr/publications/artificial-turf-report.pdf) Note that many
facilities would not allow testing.
Other studies have raised serious concerns about tire crumb and lead exposure.
A 2014 study found lead and other toxins in the both the plastic rug and tire crumb infill.
Lead was also was found in simulated body fluids meaning there is little or no protection of
any kind against the lead getting out of the material into the body. "Since it is possible that
children may be exposed to potentially high concentrations of lead while using artificial turf
fields we recommend, at a minimum, all infill and fibers should be certified for low or no
lead content prior to purchase and installation."
("Bio-accessibility and Risk of Exposure to Metals and SVOCs in Artificial Turf Field Fill
Materials and Fibers" Brian T. Pavilonis, Clifford P. Weisel, Brian Buckley, and Paul J.
Lioy http://www.ncbi.nlm.nih.gov/pmc/articles/PMC4038666/pdf/nihms565643.pdf 2014)
No two fields are alike because each field contains 30,000 to 40,000 ground up tires, which
come from a multitude of manufacturers.
“Every turf field has to be analyzed in detail to be sure it doesn’t have a problem,’
said Paul Lioy, a professor of environmental and occupational medicine at the Robert
Wood Johnson Medical School in New Jersey.” [Emphasis added.] (“Feds promote
artificial turf as safe despite health concerns,” by Thomas Frank USA Today, 3/16/2015
http://www.usatoday.com/story/news/2015/03/15/artificial-turf-health-safetystudies/24727111/)
"Not surprisingly, the shredded tires contain a veritable witch’s brew of toxic
substances," Gaboury Benoit, Ph.D., Yale Professor of Environmental Chemistry and
Engineering. (“Study: Artificial turf contains carcinogens,” by Tony Spinelli, 7/3/15
http://www.theridgefieldpress.com/48210/study-artificial-turf-containscarcinogens/#ixzz47WNF1FSf)
Additionally, the information required from field managers around the country is time-intensive
as outlined in the Federal Register, and the attempt to reach a maximum of 40 fields nationally is
insufficient. So the time required from the individuals is large and the amount of information
collected will not be much more than anecdotal.
The fields heat is a health hazard. It is hotter than asphalt and much hotter than grass.
At the Women’s World Cup in Edmonton, Canada, in June 2015, the air temperature was 75
degrees, and “the heat from the carpet approaching 120 degrees at kickoff…Research, partly
funded by the city of Las Vegas, found artificial turf above 122 degrees is considered unsafe for
sustained athletic use and that, depending on the air temperature, turf can get as hot as 180
degrees…This was a temperature where if you put your hand down on it, you could only hold it
for five seconds or so before it would burn,” Dale Devitt, director of the Center for Urban Water
Conservation at the University of Nevada Las Vegas told the Vegas Sun. [Emphasis added.]

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4

(“The artificial turf at the Women’s World Cup was reportedly 120 degrees at kick off,” by
Marissa Payne, The Washington Post, 6/6/2015
http://www.washingtonpost.com/news/early-lead/wp/2015/06/06/the-artificial-turf-at-thewomens-world-cup-was-reportedly-120-degrees-at-kick-off/)
Environmental impacts of artificial turf should also be noted.
Artificial turf fields create “heat islands” – an environmental hazard.
The extreme heat “is not only a hazard for users, but also can contribute to the ‘heat island
effect,’ in which cities become hotter than surrounding areas because of heat absorbed by
dark man-made surfaces such as roofs and asphalt.” (“Synthetic Turf: Health Debate Takes
Root” by Luz Claudio, Environmental Health Perspectives 2008 March; 116(3): A116–
A122. http://www.ncbi.nlm.nih.gov/pmc/articles/PMC2265067/
“Columbia University climate researcher Stuart Gaffin analyzed thermal images generated
from NASA satellite maps of New York City. He wanted to figure out how urban trees may
help cool down neighborhoods. When Gaffin noticed a bunch of hot spots on the maps,
he assumed they were rooftops…two turned out to be turf fields" says Gaffin. In
retrospect, he says he should have realized that, because they're a perfect sunlight-absorbing
system.” (“High Temps On Turf Fields Spark Safety Concerns,” by Allison Aubrey,
National Public Radio, 8/7/2008
http://www.npr.org/templates/story/story.php?storyId=93364750)
Artificial turf appears to contribute to elevated levels of zinc in the water.
“There is a potential risk to surface waters and aquatic organisms associated with whole
effluent and zinc toxicity of stormwater runoff from AT fields.” (“Artificial Turf Study,
Leachate and Stormwater Characteristics,” July 2010 Conn. Department of Environmental
Protection
“Crumb rubber derived entirely from truck tires may have an impact on aquatic life due to
the release of zinc. For the other three types of crumb rubber, aquatic toxicity was found to
be unlikely.” Pg. 2
“Zinc concentrations are higher than the surface water standards.” Pg. 29
(“An Assessment of Chemical Leaching, Releases to Air and Temperature at Crumb-rubber
Infilled Synthetic Turf Fields” May 2009 from staff at NY State Department of
Environmental Conservation)
Plastic artificial turf blades will likely disintegrate and degrade with some ending up in bodies of
water and in the food of wildlife either directly or via landfills; plastics of various sizes are
already threatening aquatic life. The impacts of larger sized plastics is more widely known, but
now more is being discovered about the serious effects of microplastics. (“Ingested microscopic
plastic translocates to the circulatory system of the mussel, Mytilus edulis (L).” by Browne
MA1, Dissanayake A, Galloway TS, Lowe DM, Thompson RC, Environmental Science &
Technology, 7/1/2008 http://www.ncbi.nlm.nih.gov/pubmed/18678044) “As plastic breaks into
smaller pieces, it is more likely to infiltrate food webs. In laboratory and field studies, fish,
invertebrates and microorganisms ingest micrometer-sized particles…” (“Classify plastic waste

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5

as hazardous,” by Chelsea M. Rochman, Mark Anthony Browne, Eunha Hoh, Hrissi K.
Karapanagioti, Lorena M. Rios- Mendoza, Hideshige Takada, Swee Teh, Richard C. Thompson.
Nature, 2/14/13.)
Confusion over focus of the undertaking:
While the official federal register announcement does not mention playgrounds, the EPA’s
website explaining this study refers to “this coordinated Federal Research Action Plan on
Recycled Tire Crumb Used on Playing Fields and Playgrounds…”
(https://www.epa.gov/chemical-research/federal-research-recycled-tire-crumbs-used-playingfields) It would be better to included playgrounds, especially since children are particularly
vulnerable to toxic chemicals, but at a minimum the information disseminated should be
consistent between postings.
Conclusion:
As should be apparent from the above information and comments, my staff, constituents and I
have spent numerous hours reviewing these issues. I am deeply concerned that the study as
designed will offer the false hope of absolute answers. We may not know for many years the
true and complete impacts of artificial turf fields. I have concluded that we should adhere to the
precautionary principle and minimize use of artificial turf fields. Instead, we need to focus our
research and energy on improving natural grass fields, which already can be designed to
withstand heavy rains and avoid rain-outs. Increasing knowledge and experience is helping
expand the usage of these fields. The public focus should be on the best practices that give the
greatest use of natural grass fields with the least amount of fertilizers, pesticides and water.

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6

Page 1 of 1

PUBLIC SUBMISSION

As of: 5/3/16 6:38 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8pen-xk2y
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0073
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Sarah Evans
Address: 10029
Email: [email protected]
Organization: Children's Environmental Health Center, Icahn School of Medicine at Mount
Sinai

General Comment
See attached file(s)

Attachments
Mount Sinai CEHC Comment on ATSDR-2016-0002

https://www.fdms.gov/fdms/getcontent?objectId=0900006481fa1dad&format=xml&showor... 5/3/2016

Children’s Environmental Health Center
Department of Preventive Medicine
Icahn School of Medicine at Mount Sinai
One Gustave L. Levy Place, Box 1217
New York, NY 10029-6574

May	
  2,	
  2016	
  
	
  
Leroy	
  A.	
  Richardson,	
  Information	
  Collection	
  Review	
  Office	
  	
  
Centers	
  for	
  Disease	
  Control	
  and	
  Prevention	
  	
  
1600	
  Clifton	
  Road	
  NE.,	
  MS-­‐D74	
  Atlanta,	
  Georgia	
  30329.	
  	
  
	
  
Federal	
  eRulemaking	
  Portal:	
  Regulation.gov	
  	
  
	
  
Re:	
  Docket	
  No.	
  ATSDR-­‐2016-­‐0002	
  	
  
	
  
To	
  Whom	
  It	
  May	
  Concern:	
  	
  
	
  
We,	
   the	
   Children’s	
   Environmental	
   Health	
   Center	
   (CEHC)	
   of	
   the	
   Icahn	
   School	
   of	
   Medicine	
   at	
   Mount	
  
Sinai,	
  strongly	
  support	
  the	
  Federal	
  Research	
  Action	
  Plan	
  on	
  Recycled	
  Tire	
  Crumb	
  Used	
  on	
  Playing	
  Fields	
  
and	
  Playgrounds.	
  	
  It	
  is	
  our	
  hope	
  that	
  this	
  study	
  will	
  exhaustively	
  address	
  data	
  gaps,	
  characterize	
  crumb	
  
rubber	
   constituents,	
   assess	
   exposure	
   pathways	
   under	
   realistic	
   play	
   conditions,	
   and	
   consider	
   health	
  
effects	
   to	
   vulnerable	
   populations.	
   	
   Based	
   upon	
   the	
   presence	
   of	
   known	
   toxic	
   substances	
   in	
   tire	
  
rubber,	
   the	
   CEHC	
   has	
   issued	
   a	
   call	
   for	
   a	
   moratorium	
   on	
   the	
   use	
   artificial	
   turf	
   generated	
   from	
  
recycled	
  rubber	
  tires	
  pending	
  comprehensive	
  safety	
  studies.	
  	
  	
  	
  
	
  
As	
  pediatricians,	
  epidemiologists,	
  and	
  laboratory	
  scientists	
  at	
  the	
  Children’s	
  Environmental	
  Health	
  
Center	
  of	
  the	
  Icahn	
  School	
  of	
  Medicine	
  at	
  Mount	
  Sinai,	
  which	
  hosts	
  one	
  of	
  10	
  nationally	
  funded	
  
Pediatric	
  Environmental	
  Health	
  Specialty	
  Units,	
  we	
  have	
  received	
  numerous	
  phone	
  calls	
  from	
  
concerned	
  parents	
  and	
  physicians	
  regarding	
  the	
  wide	
  scale	
  use	
  of	
  recycled	
  rubber	
  surfaces	
  on	
  school	
  
grounds	
  and	
  in	
  park	
  properties.	
  	
  This	
  led	
  us	
  to	
  conduct	
  a	
  review	
  of	
  the	
  risks	
  and	
  benefits	
  of	
  artificial	
  
playing	
  surfaces,	
  during	
  which	
  we	
  found	
  significant	
  gaps	
  in	
  the	
  evidence	
  supporting	
  the	
  safety	
  of	
  
recycled	
  rubber	
  turf	
  products.	
  The	
  hazards	
  associated	
  with	
  recycled	
  tire	
  rubber,	
  coupled	
  with	
  the	
  
unique	
  vulnerability	
  of	
  children	
  have	
  led	
  us	
  to	
  recommend	
  that	
  these	
  products	
  never	
  be	
  used	
  as	
  
surfaces	
  where	
  children	
  play.	
  
	
  
The	
  major	
  chemical	
  components	
  of	
  recycled	
  rubber	
  are	
  styrene	
  and	
  butadiene,	
  the	
  principal	
  
ingredients	
  of	
  the	
  synthetic	
  rubber	
  used	
  for	
  tires	
  in	
  the	
  United	
  States1.	
  Styrene	
  is	
  neurotoxic	
  and	
  
reasonably	
  anticipated	
  to	
  be	
  a	
  human	
  carcinogen2.	
  	
  Butadiene	
  is	
  a	
  proven	
  human	
  carcinogen	
  that	
  has	
  
1

	
  Denly	
  et	
  al	
  A	
  Review	
  of	
  the	
  Potential	
  Health	
  and	
  Safety	
  Risks	
  from	
  Synthetic	
  Turf	
  Fields	
  Containing	
  Crumb	
  Rubber	
  Infill.	
  
May	
  2008.	
  	
  http://www.nyc.gov/html/doh/downloads/pdf/eode/turf_report_05-­‐08.pdf	
  
2
	
  ATSDR	
  Toxicological	
  Profile	
  for	
  Styrene,	
  November	
  2010.	
  http://www.atsdr.cdc.gov/toxprofiles/tp53.pdf.	
  

Children’s Environmental Health Center
Department of Preventive Medicine
Icahn School of Medicine at Mount Sinai
One Gustave L. Levy Place, Box 1217
New York, NY 10029-6574

been	
  shown	
  to	
  cause	
  leukemia	
  and	
  lymphoma3.	
  	
  Shredded	
  and	
  crumb	
  rubber	
  also	
  contain	
  lead,	
  
cadmium,	
  and	
  other	
  metals	
  known	
  to	
  damage	
  the	
  developing	
  nervous	
  system4,5.	
  Potentially	
  harmful	
  
chemicals	
  have	
  been	
  detected	
  in	
  the	
  air	
  above	
  rubber	
  turf	
  such	
  as	
  benzathiazole	
  and	
  polycyclic	
  
aromatic	
  hydrocarbons	
  (PAHs),	
  both	
  of	
  which	
  are	
  linked	
  to	
  cancer6.	
  
	
  
Recommendations:	
  To	
  be	
  informative,	
  comprehensive	
  studies	
  should	
  consider,	
  at	
  a	
  minimum:	
  
	
  
•   Exposure	
  assessment	
  under	
  realistic	
  playing	
  conditions.	
  
Studies	
  should	
  consider	
  weather	
  conditions	
  such	
  as	
  extreme	
  heat,	
  potential	
  for	
  increased	
  
exposures	
  as	
  turf	
  degrades	
  over	
  time,	
  as	
  well	
  as	
  extended	
  exposure	
  times	
  that	
  may	
  occur	
  when	
  
rubber	
  pellets	
  are	
  transported	
  home	
  on	
  the	
  bodies	
  and	
  clothing	
  of	
  players.	
  	
  
	
  
•   All	
  possible	
  routes	
  of	
  exposure:	
  inhalation,	
  ingestion	
  and	
  dermal	
  absorption.	
  
Individuals	
   are	
   exposed	
   to	
   harmful	
   substances	
   when	
   crumb	
   rubber	
   pellets	
   touch	
   their	
   skin	
   or	
  
are	
   swallowed,	
   and	
   possibly	
   from	
   breathing	
   chemicals	
   released	
   into	
   the	
   air	
   from	
   the	
   surface.	
  
While	
   manufacturers	
   claim	
   that	
   a	
   number	
   of	
   scientific	
   studies	
   indicate	
   low	
   risk	
   of	
   harm	
   from	
  
recycled	
   tiring	
   playing	
   surfaces,	
   these	
   studies	
   were	
   not	
   conducted	
   in	
   a	
   rigorous	
   manner	
  
comprehensive	
  enough	
  to	
  prove	
  safety.	
  	
  
	
  
•   Potential	
  health	
  effects	
  not	
  only	
  of	
  individual	
  chemicals,	
  but	
  also	
  of	
  mixtures	
  of	
  chemicals	
  to	
  
determine	
  their	
  additive	
  and	
  synergistic	
  effects.	
  
It	
  is	
  important	
  to	
  note	
  that	
  risk	
  of	
  harm	
  due	
  to	
  exposures	
  from	
  recycled	
  rubber	
  turf	
  has	
  been	
  
assessed	
  only	
  for	
  single	
  chemicals,	
  yet	
  children	
  are	
  exposed	
  to	
  numerous	
  harmful	
  chemicals	
  in	
  
aggregate	
  during	
  play	
  on	
  these	
  surfaces.	
  	
  It	
  is	
  widely	
  recognized	
  that	
  carcinogens	
  and	
  other	
  
environmental	
  toxins	
  act	
  in	
  an	
  additive	
  or	
  multiplicative	
  	
  fashion,	
  making	
  risk	
  assessment	
  of	
  the	
  
chemical	
  mixtures	
  present	
  in	
  recycled	
  rubber	
  critical	
  for	
  a	
  comprehensive	
  safety	
  assessement7.	
  	
  
	
  
3

	
  International	
  Agency	
  for	
  Research	
  on	
  Cancer,	
  2008.	
  http://monographs.iarc.fr/ENG/Monographs/vol100F/mono100F-­‐
26.pdf	
  
4
	
  Timothy	
  Ciesielski	
  et	
  al.	
  Cadmium	
  Exposure	
  and	
  Neurodevelopmental	
  Outcomes	
  in	
  U.S.	
  Children.	
  Environ	
  Health	
  
Perspect.	
  2012	
  May;	
  120(5):	
  758–763.	
  	
  27.	
  doi:	
  10.1289/ehp.1104152	
  
5
	
  CDC	
  (2012)	
  Low	
  Level	
  Lead	
  Exposure	
  Harms	
  Children:	
  A	
  Renewed	
  Call	
  for	
  Primary	
  Prevention.	
  
http://www.cdc.gov/nceh/lead/acclpp/final_document_010412.pdf	
  
6
	
  Connecticut	
  Department	
  of	
  Public	
  Health	
  (2010)	
  Human	
  Health	
  Risk	
  Assessment	
  of	
  Artificial	
  Turf	
  Fields	
  Based	
  Upon	
  Results	
  
from	
  Five	
  Fields	
  in	
  Connecticut.	
  http://www.ct.gov/deep/lib/deep/artificialturf/dph_artificial_turf_report.pdf	
  
7
	
  Goodson	
  WH	
  et	
  al	
  2015.	
  Assessing	
  the	
  carcinogenic	
  potential	
  of	
  low-­‐dose	
  exposures	
  to	
  chemical	
  mixtures	
  in	
  the	
  
environment:	
  the	
  challenge	
  ahead.	
  Carcinogenesis	
  36(Suppl	
  1):S254–S296.	
  

Children’s Environmental Health Center
Department of Preventive Medicine
Icahn School of Medicine at Mount Sinai
One Gustave L. Levy Place, Box 1217
New York, NY 10029-6574

•   The	
  unique	
  vulnerability	
  of	
  very	
  small	
  children	
  as	
  well	
  as	
  individuals	
  in	
  certain	
  “Windows	
  of	
  
Susceptibility”	
  such	
  as	
  pregnancy	
  and	
  the	
  pubertal	
  period.	
  	
  	
  
Children	
  and	
  fetuses	
  are	
  particularly	
  sensitive	
  to	
  exposure	
  to	
  toxic	
  chemicals	
  due	
  to	
  their	
  
developing	
  organ	
  systems	
  and	
  immature	
  enzymatic,	
  hepatic,	
  and	
  renal	
  function.	
  In	
  addition,	
  
children’s	
  developmentally	
  appropriate	
  hand	
  to	
  mouth	
  behaviors,	
  high	
  respiratory	
  rates	
  
compared	
  to	
  adults,	
  and	
  close	
  proximity	
  to	
  the	
  ground	
  lead	
  to	
  increased	
  potential	
  for	
  toxins	
  to	
  
be	
  inhaled,	
  absorbed	
  through	
  the	
  skin	
  and	
  even	
  swallowed	
  by	
  children	
  who	
  play	
  on	
  recycled	
  
rubber	
  surfaces.	
  	
  	
  
	
  
Thank	
  you	
  for	
  the	
  opportunity	
  to	
  provide	
  you	
  with	
  our	
  professional	
  opinion.	
  	
  We	
  would	
  be	
  more	
  than	
  
happy	
  to	
  answer	
  any	
  questions	
  that	
  you	
  might	
  have.	
  	
  
	
  
Kind	
  Regards,	
  	
  

	
  
Robert	
  Wright,	
  MD,	
  MPH	
  
Director,	
  Mount	
  Sinai	
  Children’s	
  Environmental	
  Health	
  Center	
  
	
  
Sarah	
  Evans,	
  PhD,	
  MPH	
  
Research	
  Scientist	
  
Children’s	
  Environmental	
  Health	
  Center	
  
	
  

	
  
Homero	
  Harari	
  ScD,	
  MSc	
  
Research	
  Scientist	
  
Children’s	
  Environmental	
  Health	
  Center	
  
	
  

Page 1 of 1

PUBLIC SUBMISSION

As of: 5/3/16 6:39 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8peo-o930
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0074
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Jean Barish
Address: 10028
Email: [email protected]

General Comment
Attached are my comments regarding Collections Related to Synthetic Turf Fields with Crumb
Rubber Infill 0923-16PJ
FR Doc # 2016-03305
Thank you for your consideration.
Jean B Barish, Esq., MS

Attachments
FR Doc # 2016-03305

https://www.fdms.gov/fdms/getcontent?objectId=0900006481fa2584&format=xml&showor... 5/3/2016

JEAN B BARISH, Esq., MS
[email protected]
212-249-5060
May 2, 2016

Leroy A. Richardson
Information Collection Review Office
Centers for Disease Control and Prevention
1600 Clifton Road NE, MSD-74
Atlanta, GA 30329
Re: Docket No. 2016-03305
Dear Mr. Richardson:
Thank you for this opportunity to comment on the proposed Federal research on the toxicity of synthetic
turf athletic fields with rubber tire crumb infill. I have worked as a research scientist, a consumer
advocate, and an attorney specializing in health care law. I am also affiliated with several environmental
organizations that have been concerned about this issue. One of these organizations, Action for
Nature, recognized Claire Dworsky as an AFN Eco-Hero for her study on the toxicity impact of synthetic
turf with rubber tire crumb. (http://actionfornature.org/2011_winners.aspx;
http://www.scgh.com/featured/success-stories/4th-graders-research-reveals-dangers-of-artificialturf/nggallery/image/image-463)
Rubber tires are a complex blend of materials and chemicals, many of which are carcinogenic,
neurotoxic, eye and throat irritants, and toxic to many organ systems. These chemicals include but are
not limited to polynuclear aromatic hydrocarbons (PAHs); phthalates; volatile organic compounds
(VOCs); heavy metals including lead, zinc, iron, manganese, and mercury; nanoparticles such as
carbon black; and dioxin. Additionally, a great deal of dust and particulate matter, including
nanoparticles, are created during play on an artificial turf field. All of this harmful material can enter the
body by inhalation, ingestion, dermal contact and eye contact. Other health and safety concerns
include sports injuries; infections from methicillin-resistant Staphylococcus aureus (MRSA); overheating
of the fields; and; disposal problems. Finally, the use of artificial turf with rubber tire crumb also raises
environmental concerns.
Many cities and school districts have chosen not to install turf with rubber tire crumb after considering
the health and environmental risks. For example, the City of New York Parks and Recreation and
Department has not used rubber tire crumb infill since 2008. And in 2009 the Los Angeles Unified
School District served manufacturers of artificial turf with Proposition 65 Notices claiming that artificial
turf with SBR infill contains unacceptable levels of lead and carbon black. LAUSD no longer uses turf
with rubber tire crumb. Several school districts in Sonoma County in Norther California have also
decided not to use rubber tire crumb infill, and the San Francisco Recreation and Parks Department is
planning to replace worn out fields with safer, organic infill. These are just a few examples of schools
and municipalities throughout the country that no longer use synthetic turf with rubber tire crumb.

Leroy A. Richardson
May 2, 2016
Page 2

In view of the growing concern about the health and environmental hazards of these fields, your
research should be done rigorously and thoroughly. To assure the studies will provide meaningful
information, please consider the following recommendations:
Study Recommendations
It is important that samples of rubber tire crumb are taken from an adequate number of fields
throughout the country. There are many variables that must be considered to assure adequate
sampling, including but not limited to the following: age of the fields; weather conditions to which the
fields are exposed such as temperature, humidity, precipitation; use of the fields; age of the fields;
source of the tire crumb; location on the field from which the samples are taken. Rubber tire crumb
comes from a huge variety of tires that have been manufactured all over the world. This lack of
homogeneity of the rubber tire crumb must be accounted for in your research.
Numerous studies have identified several categories of chemicals found in rubber tire crumb, including
but not limited to: polyaromatic hydrocarbons; phthalates; dioxins; semivolatile compounds;
nitrosamines, and; heavy metals. These should all be measured.
Rubber tires contain nanotubules. These should be measured.
There is also off-gassing of volatile compounds on synthetic turf fields, as well as the dispersal of
particulates into the air. These volatiles and particulates should also be measured on indoor and
outdoor fields under various ambient and play conditions when the fields are in use.
There is growing concern about the health risks of exposure to nanoparticles and carbon black. These
particles are able to cross biological membranes such as the blood-brain barrier and access cells,
tissues and organs. The risk of exposure to nanoparticles and carbon black should be studied.
(Nanoparticles – known and unknown health risks. Peter HM Hoet, Irene Brüske-Hohlfeld and Oleg V
Salata. Journal of Nanobiotechnology 20042:12.
http://jnanobiotechnology.biomedcentral.com/articles/10.1186/1477-3155-2-12). See also:
“Understanding the mechanism of toxicity of carbon nanoparticles in humans in the new millennium: A
systemic review,” Mukesh Sharma. Indian Journal of Occupational and Environmental Medicine, vol.
14(1), 2010, web publication June 24, 2010, abstract available at
http://www.ijoem.com/article.asp?issn=00195278;year=2010;volume=14;issue=1;spage=3;epage=5;aulast=Sharma ; Peter Gehr “Nanoparticles
can penetrate brain tissue,” on the website of the Federal Office for the Environment (FOEN) (also
BAFU in German), March 2010, available at
http://www.bafu.admin.ch/dokumentation/umwelt/10649/10659/index.html?lang=en ; “Toxic Potential of
Materials at the Nanolevel,” Mädler,and Ning Li, Science, 3 February 2006: 622- 627, abstract at
http://www.sciencemag.org/cgi/content/abstract/311/5761/622.

Leroy A. Richardson
May 2, 2016
Page 3

In addition to surveying field representatives to determine facility use and characteristics, please survey
players, coaches, and spectators. This will provide more reliable information regarding field uses and
conditions.
In addition to air monitoring, dermal sampling, and urinalysis, mucous membranes such as the oral
cavity, nasal passages, and conjunctiva of players should also be sampled. Dermal sampling should
include all exposed areas of the body, including the face and scalp.
Exposure characterization should also include contact with clothing and shoes, and the impact that has
on the spread of material off-site. This is especially important since many people report that rubber tire
crumb is tracked into cars and homes, and that players’ clothing is covered with black dust after a
game.
The risk of increased skin, muscular and joint injury caused by synthetic turf versus natural turf should
be studied.
All impact studies should account for demographic variations in users of the fields, including age,
gender, and race.
One of the adverse health impacts of artificial turf fields is related to the fact that the fields get much
hotter than natural grass fields. Synthetic surface undesirably absorbs, retains and emanates heat at
temperatures and rates that can be dangerous. (https://www.pitchcare.com/magazine/concerns-overheat-stress-on-3g-surfaces.html) The health hazards of playing on these hot fields should be studied.
Analysis of the health hazards of rubber tire crumb must also analyze the cumulative risk of exposure to
the synthetic turf with rubber tire crumb, defined in the US EPA document “Framework for Cumulative
Risk Assessment” as “the combined risks from aggregate exposure (i.e., including all relevant routes) to
multiple agents or stressors.” (U.S. EPA 2003. Framework for Cumulative Risk Assessment. PA/630/P02/001A. Washington, DC)
Please review the Material Safety Data Sheets (MSDS) for the manufacturer of rubber tire crumb and
evaluate these for information about health and safety hazards.
In addition to an analysis of the constituents of rubber tire crumb and exposure levels, the synthetic turf
fibers also contain chemicals of concern, including but not limited to phthalates, quaternary ammonium
bocides, BPA, acetone, elastomers, and heavy metals. A chemical analysis of a representative sample
of turf fibers should be done.

Leroy A. Richardson
May 2, 2016
Page 4

Other Considerations
The following comments are also submitted for your consideration:
Epidemiological Studies
There is a growing data base of soccer players exposed to fields with rubber tire crumb that have
developed cancer. Notably, there is a disproportionate number of young people lymphomas in this
population. (http://www.ehhi.org/turf/cancer_patterns_1114.shtml) Epidemiological research is
necessary to more accurately assess the health impacts of playing on artificial fields with rubber tire
crumb. This research should study the incidence of cancer, as well as allergies, asthma and other
respiratory disorders, gastrointestinal disorders, autoimmune diseases, neurological conditions, skin
conditions, and the like. There is already a great deal of information about the components of rubber
tire crumb. Epidemiological research is the next step that should be taken to determine whether
exposure to these toxins on the playing field increases the risk of cancer and other health problems.
The testing your agency proposes will never capture what is really going in the real life exposures of a
generation of young people. A national agency such as NCI or CDC has the resources to do the
necessary epidemiological research. It should begin as soon as possible in order to protect a the young
people who are now playing on these fields.
Animal Studies
Several experts I have spoken to have recommended that your research includes animal studies in
order to better assess exposure risks. Please include animal studies in this project or explain why you
do not plan to include it.
Environmental Impacts
Rubber tire crumb can also impact the environment, especially if the field is built above an aquifer.
Chemicals from rubber tire crumb can leach into this underlying aquifer, as well as spill into waste
water, poisoning drinking water and impacting aquatic life. Additionally, synthetic turf fields with rubber
tire crumb can impact the ecosystems where they are installed. Accordingly, please address the
following issues in your research:
Include consideration of the impact of these fields on rainwater and other waters that flow through the
turf that will pick up particulates that could then enter the public water system or adjoining waterways.
Include consideration of the impact of these fields on all animal species in the surrounding ecosystems.

Leroy A. Richardson
May 2, 2016
Page 5

Disposal
The environmental impact of disposal of the fields and the rubber tire crumb infill should also be
studied. It is important to understand the regulatory control of the disposal of these fields. Do they end
up in landfills? Can they be recycled? What is the impact of the particulates on the environment when
they must be removed at the end of their lifespan or the repurposing of the fields?
Precautionary Principle
The Precautionary Principle stands for the proposition that when an activity raises threats of harm to
human health or the environment, precautionary measures should be taken even if some cause and
effect relationships are not fully established scientifically.
(http://unesdoc.unesco.org/images/0013/001395/139578e.pdf) Much has been written about the
Precautionary Principle, but in its simplest terms it means that there is a social responsibility to protect
the public from exposure to harm when scientific investigation has found a plausible risk. These
protections can be relaxed only if further scientific findings emerge that provide sound evidence that no
harm will result.
You are encouraged to apply the Precautionary Principle in analyzing the data from your studies.

Thank you for your consideration of these comments.
Sincerely,
Jean B Barish, Esq., MS

Page 1 of 1

PUBLIC SUBMISSION

As of: 5/3/16 6:41 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8peq-eye3
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0076
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Glen Sjoblom
Address: 22066
Email: [email protected]

General Comment
See attached file(s)

Attachments
CDC letter

https://www.fdms.gov/fdms/getcontent?objectId=0900006481fa34bd&format=xml&showor... 5/3/2016

Dr. Thomas Frieden, Director
Center for Disease Control and Prevention
1600 Clifton Road N. E.
Atlanta, Georgia 30329
I am writing to you as a former Director of the EPA Office of Radiation
Programs and with considerable career expertise in the area of
environmental and occupational risk assessment.
An issue before CDC, EPA and the Consumer Product Safety Commission
at this time is whether to continue the use of crumb rubber in artificial
turf fields. There are now some 12 thousand of these playing fields all
over America, and a typical field uses crumb rubber particles made by
pulverizing perhaps 30,000 used tires, approximately 1 million pounds
per field. This use of used tires began in a small way about 30 years ago,
when there had been public outcry to EPA over fires involving used tires
in landfills and in piles of used tires.
The early studies of this use of crumb rubber were mainly aimed at
developing another method of disposal of used tires, well before the
development of more modern methods of hazardous waste
management. These early studies were superficial and did not make a
critically objective examination of the exposure pathways by which
volatile chemicals and tiny particulates would be released and exactly
how they would expose our young athletes, and what the effects would
likely be.
Your agency must now make the determination of whether to continue
to allow this use of tire crumb. I believe that the EPA has been and is
conflicted, by virtue of the historical proponents of this use within the
EPA Office of Solid Waste. CDC has the necessary expertise in all the
areas of toxicology, epidemiology, cancer registry, exposure
measurements and risk analysis, and does and must not be burdened by
the mistakes of the past.
In the United States, there is a growing public concern that allowing this
use of crumb rubber was a huge mistake by EPA. There are perhaps a
dozen carcinogens which have been reported in the rubber particles, as
well as the main constituents of rubber polymer, 1,3 butadiene and
1

carbon black. The fields can reach over 150 degrees, and disturbing the
crumb rubber including thermal deterioration of the material, can
release large amounts of very small particulates, and volatile chemicals,
which can reach deeply into lungs of young athletes, while they are
under physical exertion.
The studies of the past have not even determined or examined the high
exposure scenarios involving athletes diving into the field surface,
resulting in repeated high ingestion and inhalation. This is not a chronic
low-dose situation, but an intermittent high dose situation. The
previous studies have mainly involved sampling above the undisturbed
fields, and a few have tried using breathing zone monitors. A much
better understanding of the actual exposure scenario is needed, through
inquisitive observation of conditions of play and investigation, followed
by careful design of the quantitative measurements that will truly
determine actual intakes.
Many of the chemicals in tire crumb are suspected to be human
carcinogens, and the best toxicologists should be asked to estimate risk
factors, particularly for the diseases that have been reported. There
have been a substantial and growing number of actual health effects and
deaths, which have been reported among soccer players, particularly
young goalies in Washington State. A few useful documents are shown
below:
http://boston.cbslocal.com/2015/03/18/i-team-health-concernsraised-over-artificial-turf-fields/
https://www.youtube.com/watch?v=91svvfuF7iY
It is important to use conservative assumptions, because the critical
population group is younger and therefore more sensitive to the
chemicals and particulates.
The health effects experience in the tire making industry should be
useful as background, since many of the same substances are involved,
albeit in a much better controlled industrial environment, in which
2

some occupational exposures are acknowledged as a condition of
employment.
CDC should determine if there are additional cancer clusters in other
parts of the country, in addition to the reports from Washington State.
It is not acceptable to only test the crumb rubber in the laboratory as
has been done in the past. The ongoing studies should be specifically
directed to measuring the airborne volatile organic chemicals and fine
particulates being released from several existing fields that have been in
place for many years. One such field is located at Mira Costa High
School in Manhattan Beach, California, where my 12 year old grandson
plays flag football. When I observed a game there in December, there
was a very noticeable odor of rubber, as well as large amounts of
surface particulate material, and a cloud of fine black dust resulting
from the athlete’s feet. Even in December, the surface was hot from the
solar radiation on the black surface, and this undoubtedly degrades and
volatizes the complex moist rubber polymer and produces a mixture of
organic materials, both volatile and very small particulates. I have read
reports stating surface temperatures of 150-200 degrees F. I became
very concerned when I observed the current situation.
The protocol for the new studies should include use of traditional fine
air particulate samplers and volatile samplers on several fields with
degraded surfaces, during athletic games, as well as in breathing zone
monitoring of athletes playing. Standard methods should be used for
this monitoring, and I suggest the application of the PM-10 and PM-2.5
analysis methods for particulates. The only truly acceptable exposure
level determined by these methods is NO actual exposure to our young
athletes, but the level of 50 micrograms per cubic meter air standard
may be a useable starting point.
In Fairfax County, Virginia, where I live, there are many of these fields,
but the Great Falls Citizens Association refused to go along with the use
of crumb rubber, and the Local Lacrosse Association found another fill
material. I am also aware that Montgomery County, Maryland has
passed an ordinance allowing only natural fill materials on playing
fields, and have shown that there are acceptable substitute materials
which have the same playability features, without the adverse health
3

implications. This year, the Virginia Legislature considered a three-year
moratorium on the use of crumb rubber, and while it was tabled
pending the ongoing risk analysis, the close vote in committee indicates
a growing recognition continuing use of this material is not acceptable.
I strongly recommend that you will pay close attention to the design of
ongoing studies, and subsequently make the correct the risk
management decision, and require the phase out the use of this material
in playing fields.
Sincerely,

Glen L. Sjoblom
815 Seneca Rd.
Great Falls, Virginia 22066

4

Page 1 of 3

PUBLIC SUBMISSION

As of: 5/3/16 6:43 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8per-o6x7
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0079
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Jonathan Damm
Address: 20191
Email: [email protected]

General Comment
Dear Federal Agencies:
I am a concerned parent with a background in environmental law and a lacrosse player and
coach. Because of my education, I understand and appreciate the dangers inherent with repeated
exposure to toxins. Since I am a coach and player, I have also spent many hours on tire crumb
fields. I have witnessed how children are exposed to the fine particulate. After reading all the
available literature, my wife and I concluded the risks far outweigh any benefits of using fields
with tire crumb. Regardless of your final conclusions, it is clear that tire crumb is beyond our
capacity to thoroughly investigate - as I will discuss below. So we will never let our three young
children play on tire crumb. A generation of young Americans relies on you for similar
protection.
Later this year, when the federal government issue its preliminary statement regarding the
safety of tire crumb on synthetic turf fields, the most important messages to communicate to
concerned parents are: 1) Tire Crumb is a "Moving Target" - tire manufacturers frequently
change tire ingredients. So any formal study conclusion only speaks to existing fields. Any field
installed after a study, or any field not studies, may contain chemicals that were not examined in
past studies - including any federal study. So for all the millions of dollars of resources the
federal government is about to spend on this study, any conclusions can only speak to actual

https://www.fdms.gov/fdms/getcontent?objectId=0900006481fa2055&format=xml&showor... 5/3/2016

Page 2 of 3

fields that were studied. A study can only be backwards looking by its very nature since there
can be zero confidence that manufacturers will not change tire ingredients. This must be clearly
communicated. 2) Compound based risk assessment can only be done on chemicals and
compounds that have regulatory risk frameworks. Tire crumb contains numerous chemicals and
compounds with no regulatory risk frameworks. Therefore, any formal study will necessarily
contain significant data gaps. 3) Given that tire crumb contains multiple chemicals and
compounds with no risk frameworks, epidemiological studies and animal studies are the only
available methods of study to overcome this intrinsic problem. If there are no significant
epidemiological studies undertaken or planned, this must be communicated. If there are no
animal studies planned, this must be communicated.
If the three points of focus above were communicated clearly and prominently, it would help
educated field users to truly understand that sometimes, a problem is beyond our ability and
present capacity to accurately make predictions or draw conclusions regarding safely. If the
federal government was realistic in this endeavor, it would recognize this from the very start.
And given what we know about the multiple carcinogens, mutagens and reprotoxins in this
material, the government should conclude from the start that tire crumb is simply too risky to
use in such close proximity to children.
Sweden Concluded that Tires should Not be Used
Such a position would not be novel or unprecedented. The Swedish agency tasked with
reviewing tire crumb on synthetic fields recommended that tires should not be used as material
on synthetic turf fields for exactly these reasons. Sweden wisely concluded that given the
complexity and the inherent unknowns regarding tire crumb use on turf fields, they simply
should not be used.
"Tyres contain substances of very high concern
Tyres contain several substances that are substances of very high concern. These substances
maypersist in the environment, they may be bioaccumulative, carcinogenic, reprotoxic, or
mutagenic. This is true of, for example, polycyclic aromatic hydrocarbons (PAHs), phthalates
and certain metals. These substances should not be released into the environment and thus
waste tyres should not be used for synthetic turf surfaces.
KemI's Recommendations:
Do not select synthetic turf that contains substances of very high concern when laying new
surfaces
Material that contains substances of very high concern should not be used, as specified by the
environmental objectives of the Swedish parliament. This means that granulate formed from
recycled rubber should not be used when laying new surfaces of synthetic turf. The Norwegian
authorities have issued a similar recommendation."
http://www.wellesleyma.gov/pages/WellesleyMA_SpragueResources/Swedish%20Study.doc
In addition to Sweden and Norway, whole countries that have recommended that tires not be
used on turf fields, municipalities like as New York City have has banned tire crumb since 2009
for their schools and parks.

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Page 3 of 3

Similarly in 2009, the L.A. Unified School district has banned tire crumb. The list grows larger
by the week. In early 2015, Montgomery County, Maryland's most populous, banned tire crumb
by a unanimous vote of the council.
Please honor the precautionary principal and recommend a complete ban on the use of tire
crumb on turf fields and playgrounds. See attached for full comments.
Regards,
Jonathan Damm

Attachments
Comments on ASTDR 2016-0002 by Jonathan Damm

https://www.fdms.gov/fdms/getcontent?objectId=0900006481fa2055&format=xml&showor... 5/3/2016

Comments on ASTDR 2016-0002-0003
Federal Research Action Plan on
Recycled Tire Crumbs Used on Playing Fields and Playgrounds
Submitted to Federal Register May 2, 2016
By Jonathan R. Damm
Dear Federal Agencies:
I am a concerned parent with a background in environmental law and a lacrosse player
and coach. Because of my education, I understand and appreciate the dangers inherent
with repeated exposure to toxins. Since I am a coach and player, I have also spent
many hours on tire crumb fields. I have witnessed how children are exposed to the fine
particulate. After reading all the available literature, my wife and I concluded the risks far
outweigh any benefits of using fields with tire crumb. Regardless of your final
conclusions, it is clear that tire crumb is beyond our capacity to thoroughly investigate –
as I will discuss below. So we will never let our three young children play on tire crumb.
A generation of young Americans relies on you for similar protection.
Later this year, when the federal government issue its preliminary statement regarding
the safety of tire crumb on synthetic turf fields, the most important messages to
communicate to concerned parents are: 1) Tire Crumb is a “Moving Target” – tire
manufacturers frequently change tire ingredients. So any formal study conclusion only
speaks to existing fields. Any field installed after a study, or any field not studies, may
contain chemicals that were not examined in past studies – including any federal study.
So for all the millions of dollars of resources the federal government is about to spend
on this study, any conclusions can only speak to actual fields that were studied. A study
can only be backwards looking by its very nature since there can be zero confidence
that manufacturers will not change tire ingredients. This must be clearly communicated.
2) Compound based risk assessment can only be done on chemicals and
compounds that have regulatory risk frameworks. Tire crumb contains numerous
chemicals and compounds with no regulatory risk frameworks. Therefore, any
formal study will necessarily contain significant data gaps. 3) Given that tire crumb
contains multiple chemicals and compounds with no risk frameworks, epidemiological
studies and animal studies are the only available methods of study to overcome this
intrinsic problem. If there are no significant epidemiological studies undertaken or
planned, this must be communicated. If there are no animal studies planned, this
must be communicated.
If the three points of focus above were communicated clearly and prominently, it would
help educated field users to truly understand that sometimes, a problem is beyond our
ability and present capacity to accurately make predictions or draw conclusions
regarding safely. If the federal government was realistic in this endeavor, it would
recognize this from the very start. And given what we know about the multiple
carcinogens, mutagens and reprotoxins in this material, the government should
1

conclude from the start that tire crumb is simply too risky to use in such close proximity
to children. The following links provide examples of chemicals of concern in tire crumb.
http://www.albany.edu/ihe/Synthetic_Turf_Chemicals.php
http://www.ncbi.nlm.nih.gov/m/pubmed/22352997/
http://www.ehhi.org/turf/new_study_jun2015.shtml http://southlakesturf.org/wpcontent/uploads/2015/02/Pg-31.jpg
http://southlakesturf.org/wp-content/uploads/2015/02/Attachment-1-Crumb-RubberChemicals.pdf
Sweden Concluded that Tires should Not be Used
Such a position would not be novel or unprecedented. The Swedish agency tasked with
reviewing tire crumb on synthetic fields recommended that tires should not be used as
material on synthetic turf fields for exactly these reasons. Sweden wisely concluded that
given the complexity and the inherent unknowns regarding tire crumb use on turf fields,
they simply should not be used.
Tyres contain substances of very high concern
Tyres contain several substances that are substances of very high concern.
These substances maypersist in the environment, they may be
bioaccumulative, carcinogenic, reprotoxic, or mutagenic. This is true of, for
example, polycyclic aromatic hydrocarbons (PAHs), phthalates and certain
metals. These substances should not be released into the environment and thus
waste tyres should not be used for synthetic turf surfaces.
KemI’s Recommendations:
Do not select synthetic turf that contains substances of very high concern
when laying new surfaces
Material that contains substances of very high concern should not be used, as
specified by the environmental objectives of the Swedish parliament. This means
that granulate formed from recycled rubber should not be used when laying new
surfaces of synthetic turf. The Norwegian authorities have issued a similar
recommendation.
http://www.wellesleyma.gov/pages/WellesleyMA_SpragueResources/Swedi
sh%20Study.doc
In addition to Sweden and Norway, whole countries that have recommended that tires
not be used on turf fields, municipalities like as New York City have has banned tire
crumb since 2009 for their schools and parks. http://www.nydailynews.com/newyork/city-yields-ground-crumb-rubber-turf-wars-article-1.389543
Similarly in 2009, the L.A. Unified School district has banned tire crumb.
http://usatoday30.usatoday.com/sports/2009-06-10-artificial-turf_N.htm
The list grows larger by the week. In early 2015, Montgomery County, Maryland’s most
populous, banned tire crumb by a unanimous vote of the council.
http://www.mymcmedia.org/councilmember-berliner-applauds-council-turning-the-page2

on-artificial-turf/ Recently, the city of Hartford, CT banned Tire Crumb as well.
http://ctmirror.org/2016/02/12/a-shifting-ground-for-artificial-turf-in-connecticut/
There are many other communities taking similar action. A Google search will provide
you with plenty of evidence. Industry lobbyists and representatives will likely tell you that
these are just reactionary measures because of sensational headlines of anecdotal
news about goalies with cancer. I will discuss the goalies with cancer below. First,
Sweden and Norway took their precautionary measures in 2006, well before the news
about goalies with cancer in 2014. It was enough for them to understand what is in tire
crumb. They didn’t need to conduct a generation long experiment to decide if it is safe.
They erred on the side of caution, which is a reasonable measure given the multiple
chemicals of concern, carcinogens, PAHs, VOCs, phthalates, heavy metals and
endocrine disruptors. All these things are in tire crumb. There is no debate about that.
Over the last ten to twenty years, parents have been increasingly aware that they
should take reasonable steps to protect their kids from having toxins bioaccumlate in
their kids’ bodies. So countries and municipalities that are avoiding tire crumb are not
simply acting because they are scared, they are taking prudent and reasonable
measures to minimize exposure to dangerous toxins. BPA and phthalates are good
examples. These chemicals are not banned by EPA and really not heavily regulated as
far as I understand.
Exposure
But the science is pretty clear at this point that we should protect children from
unnecessary exposure to endocrine disruptors. When developing kids are on a tire
crumb field, they often ingest tire crumb. They either ingest actual particles or they
ingest micro particles that get mixed into their sweat as it runs over their skin and into
their mouth. The attached document from the safe healthy playing fields coalition
illustrates how small particles actually are. The picture below is from the attachment.
But look at how small the dust is. The larger black spot is a highly magnified piece of tire
crumb. The specs are microscopic dust. The picture of the woman illustrates how easily
the dust can be transferred from a field to a sweaty person and into their mouth.

3

They inhale fine tire crumb dust. They inhale VOCs. They absorb chemicals and oils
from tire plasticizers either directly through their skin or in open wounds. It gets in their
noses. It gets in their eyes. There are multiple exposure routes.
Bioavailability
Based on limited study, industry representatives like to assert that the chemicals in tire
crumb are somehow not bioavailable. But there are studies that contradict that. For
example, there is a study from South Korea that concludes that lead in EPDM rubber
particulate is indeed bioavailable. It should not be any different for metals in particulate
and dust like tire crumb. “Conclusions - Results of this study confirm that the
exposure of lead ingestion and risk level increases as the particle size of crumb
rubber gets smaller.” http://www.ncbi.nlm.nih.gov/pmc/articles/PMC3278598/
So it is reasonable for parents to take precautions in their daily lives to protect their
children from toxins. People wash fruit, they off-gas products, they avoid flame
retardants, and they avoid endocrine disruptors and PAHs in their children’s products.
The list goes on. So when municipalities ban tire crumb, they are simply acting in the
same reasonable and cautious way that their populations act every day. Why would
parents want to take reasonable steps to protect their children from harmful
toxins in their daily lives, then turn around and expose their kids to all the same
chemicals of concern and even worse? It does not make sense to take one step
forward and two steps back.
Avoiding tire crumb is not a reactionary measure to sensational news; it is wisdom and
common sense. Using tire crumb where kids play is reckless and out of step with a
growing population of educated American’s approach to toxins around children. It is
truly mind boggling that there are individuals in the federal government that consider
this even remotely as a good idea.
Every day, we learn how toxins bioacumulate in the body. Folks take careful steps to
protect their families. By even pretending that somehow a field full of all the same
chemicals of concern could be tolerable under any circumstance is just plainly behind
the times. The only reason there has not already been a mass revolt is that there has
not been an opportunity to educate the millions of people that need the education. But if
the same people who avoid BPA and phthalates in their childrens’ products actually
learned in detail just how full of toxins their kids’ fields are, they would put it all together.
So please don’t pretend that somehow different rules apply just because kids are
running around an exercising. It is illogical to think that exercising somehow mitigates
the harms and risks. If anything, it makes it worse.

4

Goalies with Cancer – Only 5000 blood Cancers a Year
What about those soccer goalies with cancer? Anything short of a serious statistical
analysis would be too bad. It appears that there are only around 5000 blood cancers a
year under the age of 24. There are now over 100 goalies on Amy Griffin’s list. Most
have blood cancers. Given so few kids with blood cancers in a given year, it seems very
unlikely that one person would be able to put together a list of so many people with two
things in common 1) plays one particular position (goalie), and 2) plays mostly on one
particular kind of field (tire crumb). And there are still not that many tire crumb fields
nationally – around 12,000. So Amy Griffins list should be taken very seriously.

http://www.cancer.gov/research/progress/snapshots/adolescent-young-adult
Carbon Black
Any investigation must also look closely at carbon black. Carbon black makes up about
1/3 of a tire. That means about 1/3 of a tire crumb field is also carbon black. Carbon
black is a known animal carcinogen and a possible human carcinogen. Nanoparticles in
carbon black have been theorized to present asbestos like concerns.
http://www.turfandrec.com/index.php?option=com_content&task=view&id=2986 If this is
not looked at very closely, it would be a monumental oversight. Will the study look
closely at carbon black exposure?
Carbon Nanotubes
“Inhaling carbon nanotubes could be as harmful as breathing in asbestos, and its
use should be regulated lest it lead to the same cancer and breathing problems that
prompted a ban on the use of asbestos as insulation in buildings, according a new study

5

posted online . . . by Nature Nanotechnology.”
http://www.scientificamerican.com/article/carbon-nanotube-danger/
"[Ti]res enhanced with CNT (carbon nanotubes) appear to have improved mechanical
properties, such as tensile strength, tear strength and hardness of the composites, by
almost 600%, 250% and 70% respectively, comparing with those of the pure SBR
composites (styrene‐butadiene rubber)." http://www.iosrjournals.org/iosrjmce/papers/vol11-issue4/Version-1/B011410711.pdf
This concern with carbon nanotubes goes back to the “Moving Target” concern I
discussed in the first page of this document. Tires are waste products that are not
designed for use, ingestion, inhalation and absorption by children. Any slew of
potentially carcinogenic material could make their way into the next generation of tires,
and probably will. This should be unacceptable from the start.
Past studies have been negligent in how they collect data. They underestimate
exposure. The 2008 EPA study set up a particle collector and had kids run by
periodically. The particle collector was surrounded by a small 3 foot fence. That is not
realistic exposure replication. In order to replicate a goalies exposure, you would literally
have to kick the tire crumb fly-out into the collector again and again for hours and hours.
Past studies also use simulated body fluids that do not accurately extract all the
chemicals in tire crumb. The Yale study found 12 carcinogens.
http://www.ehhi.org/turf/findings0815.shtml Industry critics claim that Yale used to harsh
an extraction method. But there is no debate that the carcinogens were present. One
can make an argument that prior extraction methods based on simulated body fluids
were not stringent enough.
I am attaching the written testimony of Dr. Wright from the Mount Sinai Children’s
Environmental Health Center.
https://dl.dropboxusercontent.com/u/101177270/CEHC%20RB%205139%20Testimony
%20Feb%2016%202016.pdf
It says it all. In short:
1. "Given the hazards associated with recycled tire rubber, it is our recommendation that
these products never be used as surfaces where children play."
2. "[W]e found significant gaps in the evidence supporting the safety of recycled rubber
turf products."
3. "Children are uniquely vulnerable to harmful exposures from recycled rubber
surfaces."
4. "In the absence of convincing evidence of safety, we recommend that children not
play on recycled rubber surfaces that contain known carcinogens and neurotoxins and
support a ban on the use of these products."

6

I hope the federal government takes the same reasonable position. Even if you do not,
a large portion of the population will continue to act prudently and will avoid using fields
with tire crumb. You might as well act responsibly and protect those that do not have the
fortune to be as educated on the dangers of bioaccumulated toxic exposure.
Heat - 120 degrees
A few comments on heat - I read that the fields would be tested at two temperatures.
One would be at room temperature or average outdoor temp. The other would be at a
higher temperature to mimic a hot day. I hope you paid attention to the temperatures at
the women’s soccer world cup. The temperatures of the turf were not just hot, they were
astonishingly hot. It was measured at 120 degrees! So please measure it at that
temperature. Anything else would be a sham.
https://www.washingtonpost.com/news/early-lead/wp/2015/06/06/the-artificial-turf-atthe-womens-world-cup-was-reportedly-120-degrees-at-kick-off/
Industry MSDS
The Synthetic Turf Council has a MSDS that makes clear there are certain precautions
that their installer should take. They include washing frequently, wearing a respirator,
and wearing eye protection to name a few (see next page). But importantly, this is the
industries own material. How can they be asserting on the one hand that children are
safe to play on tire crumb and then at the same time, warning their installers to take
very deliberate and thorough measures to protect themselves from tire crumb as they
install it?
It is very puzzling to try to understand how this material is safe for players who get the
same if not more exposure than installers. Kids who roll in tire crumb, eat tire crumb,
drink tire crumb in sweat, inhale tire crumb, absorb tire crumb, and grow up on tire
crumb are getting absolutely no warnings like the installers. It is a terrible injustice and
wildly hypocritical.

7

https://www.dropbox.com/s/yvszy6bgtsis39a/STC%20MSDS.pdf?dl=0

8

Why should kids not receive the same warnings when they get even more exposure
than installers? When parents are educated on this seeming hypocrisy, they see right
through industry assertions that the material is safe. If you conclude that tire crumb is
safe as well, you will have to explain why installers receive special warnings about
wearing respirators and washing.

9

There should be signs on every field that provide the same warnings to parents and
players.

These are just some thoughts that hopefully provide some insight as to why you should
categorically conclude that tire crumb is too risky to use where children play. Please do
the right thing and recommend that there be a moratorium on the use of tire crumb on
synthetic turf fields and playgrounds.
Please consider attachments 1 and 2 as a fully incorporated part of this document and
part of my formal comments as well.
Regards,
Jonathan R. Damm
Reston, VA 20191
[email protected]
Vermont Law School, JD, MSEL ‘99

10

Attachment 1

11

12

13

14

15

Attachment 2
Comments on ASTDR 2016-0002-0003
Federal Research Action Plan on
Recycled Tire Crumbs Used on Playing Fields and Playgrounds
Submitted to Federal Register May 2, 2016

SAFE AND HEALTHY PLAYING FIELDS COALITION www.safehealthyplayingfields.org
A grass roots coalition working for healthier alternatives for children and communities

INTRODUCTION
On behalf of the millions of children, parents and athletes who play field sports in the US at schools,
parks, athletic facilities and playgrounds, thank you for agreeing to study the potential harm caused by
playing on or being near athletic fields with surfaces made waste tires. There are more than 12,000 of
these playfields in place (15,000 according to the website of a large company that installs them), and
they are being installed at a rate we estimate to be about 3000 a year. By our calculations, 12,000 fields
currently present 2,380,000 tons or 4,760,000,000 pounds of loose, unencapsulated tire crumb on their
field surface. (See our Table of Runoff and Material Volumes attached.) Tens of thousands of students
and young athletes play on those fields, many more thousands have direct or indirect contact with the
material. It is a public health issue of substantial importance.

The following lists our comments on the proposed study. We argue that the fields present known
carcinogenic, pathogenic, and mutagenic material in a high surface area, pulverized form that is more
toxic than whole tires, and should never have been allowed near children, or adults, because of risk of
ingestion and inhalation exposure to all the ingredients in tires. On warm, sunny days the surface
temperature routinely reaches over 150F, which presents direct, well-known heat injury risks to
children. The heat increases off-gassing of the tire components, increasing the likelihood of pulmonary

16

exposures, and creates a complex dynamic in the children’s exposure zone immediately above a field
that has not been correctly modeled or studied yet. The material lacks uniformity, or any regulatory or
exposure controls. We assert that it is impossible to assure even a single tire crumb field is free of
inhalation and ingestion risk of dangerous particulate and gases inherent in tires, tire crumb, and add-in
composites; and that dangerous and unwanted exposures from lead, benzothiazoles, 12 carcinogens,
phthalates, carbon black and other materials, can happen with every use. The data gaps are enormous,
and we hope CDC/CPSC/EPA will recognize there is no way the tire crumb industry can protect any
player, on any field, from the potential for dangerous exposures with normal use. We argue that not
enough scrutiny was placed on this material.

NOTE: The Safe and Healthy Playing Fields Coalition is a grass roots group of scientists, public health
professionals, toxicologists, neurobiologist, educators, plastics engineers, medical doctors, waste
management and remediation professionals, coaches, researchers, and parents who donate their own
time and skills towards helping communities and individuals assess risks to their communities from tire
crumb field use. We do not have a lobbying firm, law firm, hired laboratory, consultant, or revenuegenerating source (such as tire crumb), and rely solely on the skill of researchers who donate time to
compile our comments. That said, we have found compelling data that refutes almost all claims of
safety, and when we asked for additional time to compile the information, we were given two weeks,
but denied additional time. Hence, we are working at a disadvantage, and hope that during this study
year, we will have time and opportunity to substantiate our concerns, and share our research with the
study officials. One of our comments below explains our requests for a conference or virtual meeting
that allows more disclosure and discussion.

Our comments are listed in numerically and organized into: 1. General Comments, 2. Characterization
and methodology comments; 3.Summary List of requests, and a number of supporting documents are
also submitted as part of our comments.

PART I: GENERAL COMMENTS:

17

1. CPSC/CDC/EPA should use their existing authority to immediately reclassify tire crumb
athletic fields as a children’s product, since thousands of fields have been installed in schools
that serve hundreds of thousands of children.

2. We have grave concerns about their safety to human health and the environment, since known
carcinogenic and pathogenic components in the field material yield into both air and water pathways,
and provide ample opportunity for both chronic low dose exposures with every use of the field to
lead, chromium, mercury, zinc, PAH, VOC, carbon black, styrenes, benzothiazoles, and plastics; and
more intermittent, but dangerous high dose exposures from “HOTSPOTS” of component material.
(See comments on Characterization). Each of the fields has material that is known to cause cancer,
illnesses, and injury in humans; and leachate from runoff causes several negative impacts on the aquatic
ecosystems. We believe that the potential for human illness (including several cancers) from both low
dose and high dose exposures to the ingredients in tires is staggering. Basic logic favors our position.
Based on the known potential for exposures to children, and the finding of a group of 200 soccer players
with cancer (the group represents the reach of a single charismatic soccer coach), an immediate
moratorium on new construction of the fields should be put in place with the existing authority of
CDC/CPSC/EPA, until the tire crumb fields can be shown to be safe to inhale and ingest.

3. The tire crumb recycling industry, which appears “green” in its efforts to sell millions of used tires
in “repurposed” shredded form, in fact enables a direct transfer of the contamination burden of waste
tires from landfills/collection sites (in the US and abroad) to the play surfaces of 12,000 schools and
sports centers, where tens of thousands of children and adults have direct contact with the toxins in
tire crumb materials on the field surface, and these exposures could happen with every single contact.

4. For the most part, the schools and sports centers do not have resources to conduct toxicity due
diligence; meaning, they do not have access to a toxicologist who reads the industry studies with their
health as the only priority. Purchasers rely on the tire crumb recycling industry statements, industry
studies, and industry funded websites that claim toxicology assessment and public health guidance. The
sales material can be striking, and the studies appear convincing on the surface, but our study groups
have found significantly misleading information about the safety and actual risk of harm from the tire

18

crumb fields to all users, particularly children. They are likely unaware that claims that the fields are
“SAFE TO INSTALL; SAFE TO PLAY” have been repealed.

5. PEER Filings. Public Employees for Environmental Responsibility have filed a number of complaints
and documents that argue for a repeal of endorsements of tire crumb safety from EPA/CPSC, and those
statements were in fact repealed; but most schools and potential purchasers are unaware of the
removal of endorsements and claims of safety. The PEER filings are an excellent source for telling the
toxicity story and regulatory story of this product. We respectfully request that the entire file of
complaints and responses to the complaints, and other supporting material be entered into the record
for ASTDR 2016-0002-0003.

The full list of documents for the ASTDR 2016-002-0003 collection and record can be found here:
http://www.peer.org/campaigns/public-health/artificial-turf/news-releases.html. Please include all
in that list, and all supporting materials.

6. Formal legal requests have been made to classify the tire crumb fields as a children’s product since
children use them, and sales and marketing material are very clear about tire crumb fields are for
children. CDC/CPSC/EPA should use their existing authority to explicitly label the fields as children’s
products. (Please refer to PEER filings for details and supporting arguments:
http://www.peer.org/campaigns/public-health/artificial-turf/news-releases.html)

7. CLASSIC CANCER CLUSTER APPEARANCE: SOCCER PLAYERS
Parents and schools may have trusted the “Safe to Play” statements, but the parents of the 200 young
women and men, who played intense soccer and were stricken with cancer do not trust those claims
anymore.

The case of over 200 young soccer players who used tire crumb fields and contracted cancer, strongly
indicates a classic cancer cluster, though the cases have not undergone the formal validation process,
not yet. That is because a process for the collection of this information, does not exist yet for either
cancer victims, or for other illnesses, head injuries, and heat injuries/illness from the fields.

19

8. We respectfully request that an official study of the soccer player cancer cluster be initiated by CDC
immediately.

Through our activist network, we learned about these cases, which were reported to the NBC news link,
or directly to a single, trusted concerned soccer coach. EHHI reported as follows:
______________________________________
“New Cancer Numbers Among Soccer Players on Synthetic Turf,
April 2016

It is important to remember that the only people counted in the numbers below are those who have
known to call Amy Griffin. There is still no government agency tracking the cancers among the athletes
who have played on synthetic turf. We know the actual numbers of athletes who have played on
synthetic turf and contracted cancer have to be much greater than those who have known to report
their illness to Amy Griffin.

In January of 2016, there were 159 cancers reported among soccer players; now (April 2016) there are
166. Ninety-seven of those in January were goalkeepers; now there are 102. Sixty-one percent of the
soccer players with cancer are goalkeepers. As of this writing, 220 athletes of various sports who have
played on synthetic turf have cancer; 166 soccer players who have played on synthetic turf also have
cancer.

166 Soccer Players who have played on synthetic turf and have cancer



102 are goalkeepers (61% are goalkeepers)



64 soccer players with lymphomas, 39 are goalkeepers (61%––over half are
goalkeepers)



10 soccer players with Non-Hodgkin lymphoma, 7 are goalkeepers (70%––over half)
20



54 soccer players with Hodgkin lymphoma, 32 are goalkeepers (60%––over half)



41 total leukemias, 24 are goalkeepers (59%––over half)



16 total sarcomas, 7 are goalkeepers (44%)



12 thyroid, 9 are goalkeepers (75%––over half)



11 brain––5 are goalkeepers (45%)



9 testicular––6 are goalkeepers (67%––over half)



4 lung––3 are goalkeepers (almost all are goalkeepers)

Remaining are OTHER rare cancers.”
Source: Various; Victim parent volunteers, EHHI primary collection; 4/2016 (ongoing)
_____________________________________________________________

All the victims were frequent users of turf fields, spending multiple hours a week in close contact with
the material in the fields. All were in their mid-twenties or younger.

9. The self-reporting to a trusted coach, is also an indication that the actual illness rates are not yet
being properly assessed or managed by any hospital, medical system, or group; there is no “home” for
this information, yet. The 200+ cancer victim count is likely the reach of a single coach with the help of
a link in broadcast media, and a fraction of the actual count of victims of cancer or other serious
illnesses. Better investigation and creating a “safe” place to report serious and intermittent illness will
uncover many more victims, and provide needed perspective on the accuracy of risk assessment for this
product.

10. The CDC and appropriate agencies should issue a directive asking for adequate screening for
injury and disease. That US hospital and medical systems are not yet set up to collect this data is a
contributing factor; and concurrently, screening for synthetic field use should be part of a responsible
screening protocol. To our utter dismay, we learned from pediatric oncologists in our group that at least
some oncologist are prohibited from screening victims/patients for tire crumb field use; the screening
must be part of the approved protocol, and tire crumb product is not yet included..

21

11. In fact, the number of all injuries from tire crumb fields should be collected and analyzed to
include, but not be limited to: head injury and concussion; joint injuries (multiple); heat injury; blood
cancer; lymphomas; testicular cancer; pulmonary illness; neurological impairment; kidney disease;
diabetes; brain disease and cancers. These findings need to be documented, and the children who
suffer from them should be screened for tire crumb field use and proximity. No doctor or oncologist
should be prevented from asking questions, screening for, or questioning the safety of this product or
contact with this product. We believe there are many more heat related illnesses, head injuries, and
endocrine system disruptions directly resulting from exposure to the fields than what is being reported.

12. REQUEST MORE INVESTIGATION INTO EXISTING AND POTENTIAL CANCER CLUSTER: We ask that
the multiagency group takes steps to expedite the process of collecting epidemiological data and
verification of the current soccer player cluster, and other potential clusters, to include field
maintenance workers who rake the fields, field installers who pour the millions of pounds of material
onto field surfaces, school custodians, high contact users of any kind, and school children in buildings
adjacent to the fields. Residences near the fields should be considered in the scope of the study or
subsequent studies. In our own informal assessment, and using SEER database and known levels of
cancer victims, we found the potential for 7-11 cancer clusters. We respectfully ask the CDC experts to
look into this possibility and take the necessary steps to prevent additional injury and cancers.

13. NEED FOR EXPLICIT PROTECTION FROM RETRIBUTION: Sadly, the families, coaches, and school
leaders who have reported illnesses do so with concern for retribution from the tire crumb industry,
school boards, university administrations, and even sports league administrators, and may need
explicit protection and remedy against retribution. Researchers who study the potential for harm tell
us that they do not have protection from retribution from tire crumb field industry proponents. Even in
our own group, public health and medical professionals must make statements of concern anonymously
to protect themselves from retribution––professionally and personally from industry proponents.
Adequate protections need to be established to protect the professionals and parents who speak out.

14. PROTECTION FOR CHILDREN IS NOT A COST-BENEFIT ANALYSIS. Children have a unique
vulnerability to toxic exposures––both intermittent high exposures––and to low dose exposures, and if
we are aware of a carcinogenic presence, then we are responsible for using a precautionary principle,
and removing that exposure risk. With due respect, this is not a cost-benefit analysis that will show a

22

percentage of children will get sick (cost) vs. tournaments played or jobs created (benefit). It is a
decision made by a civil society that upholds protection for children’s health above all other industry
priorities, and a recognition that tens of thousands of children, if not hundreds of thousands, are already
being exposed to material with known carcinogenic, and harmful materials on school turf fields.

15. The CDC/CPSC/EPA should recognize that the fields serve children, acknowledge that there are zero
safety controls on the material and the potential exposures, and immediately acknowledge tire crumb
fields as children’s products, and use your existing authority to regulate them as children’s products.
Therefore, we emphatically REQUEST THAT THE CPSC/EPA/CDC USE EXISTING AUTHORITY TO
IMMEDIATELY CLASSIFY ARTIFICIAL TURF AS A CHILDREN’S PRODUCT, SINCE THOUSANDS OF
CHILDREN ALREADY USE THE FIELDS, IN THOUSANDS OF SCHOOLS.

Since children and adults are already being exposed on tire crumb fields to the materials in tires, we ask
for an immediate moratorium on further construction of tire crumb based or recycled rubber based
artificial turf fields until adequate assurances that tire crumb particulate, off-gassing, and combinations
are safe for children to inhale and safe for children to ingest.

Your three agencies do not need to conduct a study to know with absolute certainty that tires were
not designed to be inhaled by children, and we should protect children, at any length, from chronic or
lose dose carcinogenic exposures.

Even if we cannot model or know (or will we ever know) the exposures to each child, each day (and we
will never know), we do know with certainty that:

1. Carcinogens are in tires.
2. Shredded, pulverized tire crumb contains everything in tires, and more ingredients,
including: carbon black, phthalates, VOCs, PAHs, benzothiazoles, lead, chromium, zinc,
nanoparticle additives, proprietary additives, 12 known carcinogens, 90 materials
known to be harmful to human and environmental health, (EHHI)
3. The material can be inhaled when playing and ingested with contact, or intermittent
adjacent contact.

23

4. Every single direct or indirect use has the potential for exposure to hotspots and low
dose chronic exposures to multiple scenarios of these materials.
5. The exposures could impact children, school buildings, and surrounding areas;
contamination travels to cars, homes, and even children’s bedrooms.
6. It is both within the authority and the responsibility of your three agencies to take
immediate action to protect the public, especially children, from known carcinogenic,
pathogenic exposures.
.
Only a complete moratorium on their use will protect the millions of children, athletes and bystanders
from inhalation and ingestion of the materials that yield from tire crumb synthetic turf fields.

16. It is also evident that tire crumb will never be safe unless ALL tire ingredients, all “recipes”, the
manufacturing of tires, and then preparation of materials for fields are controlled from a toxicity
perspective. This level of voluntary cooperation from the tire manufacturing industry will, of course,
never happen.

17. ONLY UNIFORM MATERIAL SAFE TO INHALE AND INGEST IS APPROPRIATE FOR SCHOOL FIELDS ;
UNTIL THEN, A MORATORIUM. When the play surface material is uniform, consistent, and controlled,
when it is tested by an adequate study with pediatric toxicology assessments to be safe for ingestion
and inhalation, and results are peer reviewed following IRB standards, then we may consider a synthetic
turf field might be safe. Until then, tire crumb should be rejected from any casual or unnecessary
contact with children or adults.

18. RECONSIDERATION: A reconsideration of the moratorium could occur when the industry can
demonstrate a uniform, non-carcinogenic, non-inhalable, non-ingestible alternative that does not
present PAH, VOCs, phthalates, lead, chromium, mercury, 1,3-benzothiazoles, butadiene, styrenes,
carbon black (in particulate, gaseous form, or any form to children); and the product undergoes strict,
peer-reviewed study by independent qualified toxicologists who have a mandate to protect children’s
health and the health of the environment above the interests of industry. The hypothetical product
should be subject to regular reviews and quality control determinations to ensure safety over the life of
the synthetic field. Safety Data Sheets should be provided and accessible for every user. If waste tires

24

are used, the controls requested above will never be possible, since the tire material, by definition, is a
composite of many toxins in unknown quantities and with unknown impacts.

PART TWO: CHARACTERIZATION OF TIRE CRUMB COMMENTS

1. SCALE AND SCOPE: Tire crumb potential to individuals, buildings, surrounding areas and stormwater
for contamination is enormous.

2. PUBLIC HEALTH ISSUE: SCALE AND SCOPE CONCEPTS
The potential for contamination from tire crumb is a growing public health issue, in terms of the relative
size of the product and its mass; the total number of potential fields; and their basic contact with
students, athletes, school personnel, buildings, communities, and streams/storm water.

To give an idea of the existing volumes of material, the field runoff and children affected or who may be
affected, we have developed reference tables, and the summary is attached to this filing These tables
indicate the scope and scale, and demonstrate that these are not isolated fields, nor tiny exposure
potentials. The quantities of material are enormous. The source and reasoning is explained, but the
tables are designed for your model development and quick reference.

3. ENORMOUS QUANTITIES ON EACH FIELD SURFACE .
To give an idea of the scale, a modest soccer field uses 30,000 waste tires. According to a randomly
selected company selling packaged tire crumb infill for original or replacement treatments, 30,000 tires
makes about 396,667 pounds of lbs of material. According to our calculations, the volume for 2” thick
field is about 525 cubic yards, However, a large football field, three times the size of a small soccer
field, could use 1,000,000 pounds of tire crumb material.

4. The tires are shredded, pulverized into crumb of various sizes, and the shredded material is poured on
top of a plastic “grass” carpet. Importantly, the material is loose, unencapsulated and can loft into the
air when struck by a ball or foot, or body. We estimate that, depending on the school, each field has

25

regular, daily contact with at least 1000 athletes and students. At sports events, busy tournaments, or
with active use, a field can have contact with many, many more.

5. No fields we found have mandated capture of the leachate or particulate at the field.

6. TOTAL FIELD VOLUMES POTENTIAL:. The universe of potential tire crumb playfields is
approximately 200,000 - 220,000 schools and athletic facilities in the US, based on number of schools.
The potential reach of exposure from use of these fields is in the millions of children, millions of adults,
hundreds of thousands of exposed buildings and adjacent soils, and hundreds of thousands of public
easements and storm water access points (we estimate 1:1 ratio for field to point source drainage).

7. TABLE RUNOFF AND VOLUMES: SUMMARY OF KEY METRICS

For reference, we analysed fields by sport type, by Metropolitan Service Area, and calculated the
volumes for rainfall (by city), and for amount of tire crumb material on a field surface.

Key metrics are the following:



Estimated tire crumb per 85,000 sq feet field and 2” deep tire crumb infill is 525
cubic yards, 396,667 pounds, or 198 tons per field.



The total amount of tire crumb material on surface of 12,000 fields is
estimated to be 6,296,296 cubic yards, or 4,760,000,000 pounds or 2,380,000
tons that are currently in sports centers and schools in April 2016..



Runoff is calculated by city and field size, but the total runoff for fields in the
top 50 MSAs is 15,006,99,787 gallons.

26



Total Runoff for 12,000 fields based on number of fields per MSA, accounting for
rainfall in that MSA, and added together for 2016 is: 23,370,639,827 gallons… for
a single year.

The calculations were made to illustrate the scale and scope of this product, and to characterize the
reach of exposures from the field surface into the airway, and into the water pathway.

8. INGREDIENTS IN TIRE CRUMB: Lack Of Uniformity, High Variation, Multiple Toxins
Tire crumb appears to be a composite material, heterogenous with multiple known carcinogens,
pathogens, and mutagens. The material is not uniform, comes from multiple sources and lots, and can
be mixed with plastics and materials of unknown origin. The material can have anticlumping agents,
flame retardant additives, paint, and strengthening or characteristic enhancing additives. Shredding of
tires can cause small pieces of steel or metals to be included in the material from steel belted tires.
Some tire crumb is from newer depositories from recalled tires, some from landfills, and some have
been subjected to a variety of weather and conditions. Leachate and off gassing could be variable, with
the expectation that newly installed/poured material off-gassing is higher than from an older field, but
we expect those rates would vary with the age of the tires from which the tire crumb was made.

9. HETEROGENEOUS, MULTIPLE TOXINS, UNKNOWN ORIGIN: To say that tire crumb infill comes from
multiple sources, is an understatement: dispensaries, landfills in the US, landfills abroad, collection
centers, factory waste from China, factory waste from the US and abroad. Some of the newer marketed
blends included multi colored sport shoe waste, shoe factory waste, and many unidentified synthetic
materials. Just as tire companies may add anything to their “recipe” for a tire, an infill provider may
offer materials that could have anything added into the blend. Tire plugs, tire polishes, tire coatings, and
materials picked up on the roads should be considered. And even if it is known that there are only tires
in the blend, there is a broad variation in the ingredients based on the use of the tire, and the
manufacturer. Those tires may look the same, but from a toxicity standpoint their variation and the
unknowns in the “recipe” create a margin of uncertainty that makes any claim of known safety for
inhalation or ingestion impossible. If a vendor says he or she knows what is in a lot of tire crumb, and
that is known to be safe, then they ignored the materials in the product. Since we never know what is

27

in any field for sure, and if we know that they have tire crumb, they cannot be demonstrated safe for
children to inhale, ingest, nor play upon.

10. What Is In Tires? SOME GROUPS WENT LOOKING

Since it was difficult from MSDS or any other source to identify the components in tires or tire crumb,
some groups studied them directly.

11. Environment and Human Health Inc, and Yale University Study
EHHI, Inc. in cooperation with Yale University studied samples of rubber mulch, and new tire crumb with
the intent of characterizing their ingredients.
The summary text of their characterization study is found here:
http://www.ehhi.org/turf/metal_analysis2016.shtml
http://www.ehhi.org/turf/findings0815.shtml

The EHHI/Yale Study list of components found is explained this way:

The shredded rubber tire playground mulch samples tested were provided by the manufacturer and
were purchased in new bags of rubber mulch for use in gardens and playgrounds. The rubber tire infill
for synthetic turf fields was obtained as new infill material from installers of synthetic turf fields. There
were 5 samples of infill from 5 different installers of fields and 9 different samples of rubber mulch
taken from 9 different unopened bags of playground mulch.

RESULTS
There were 96 chemicals found in 14 samples analyzed. Half of those chemicals had no
government testing on them - so we have no idea whether they are safe or harmful to health. Of

28

those chemicals found that have had some government testing done on them these are the findings
with their health effects.

TWELVE (12) KNOWN CARCINOGENS
2-Mercaptobenzothiazole/ Carcinogen, toxic to aquatic life
9,10-Dimethylanthracene/ Carcinogen, respiratory irritant and can cause asthma
Bis(2-ethylhexyl) phthalate/ Carcinogen, may cause damage to fetuses
Fluoranthene / Carcinogen, Fluoranthene is one of the US EPA's 16 priority pollutant, A PAH.
Heptadecane/ Carcinogen
2-mercaptobenzothiazole / Carcinogen
Phenol, 4-(1,1,3,3-tetramethylbutyl)/Carcinogen
Phenanthrene/ Carcinogen - A PAH
Phthalimide/ Carcinogen, skin, eye and lung irritan. A Fungicide
Pyrene, 1-methyl- /Carcinogen
Tetratriacontane /Carcinogen, eye and skin irritant. Can cause systemic damage to central nervous
system.
Pyrene/ Carcinogen, toxic to liver and Kidneys, a PAH
Carbon Black/ Carcinogen
Carbon Black makes up to 20% to 30 % of every tire. It is used as a
reinforcing filler. Carbon Black is listed as a carcinogen by the International Agency for Research on
Cancer (IARC).

Carbon Black, as such, was not analyzed by the Yale Study because Carbon Black is made up of a

29

number of chemicals – some of which were found in the Yale study.
Carbon Black is not one chemical -- it is made up of many chemicals - often of petroleum products.
Furthermore, carbon black has no fixed composition, even of the many compounds it contains. Carbon
black from different sources will have
differing compositions. In our method, carbon black will register as
a series of substances extracted from it. There is no carbon black
molecule, it is a mixture.

TWENTY (20) KNOWN IRRITANTS

1,4-Benzenediamine, N-(1,3-dimethylbutyl)-N'-phenylIrritant - causes skin and eye irritation, toxic to aquatic life
1,4-Benzenediamine, N-(1-methylethyl)-N'-phenylIrritant - causes skin and eye irritation, toxic to aquatic life
2(3H)-Benzothiazolone
Irritant - causes skin and lung irritantation
2-Dodecen-1-yl(-)succinic anhydride
Irritant - causes eyes, skin and lungs irritation
3,5-di-tert-Butyl-4-hydroxybenzaldehyde
Irritant - causes irritation to eyes, skin and lungs.
Anthracene
Irritant - causes skin, eye and respiratory irritation. Breathing it can irritate the nose, throat and lungs
causing coughing and wheezing.

30

Benzenamine, 4-octyl-N-(4-octylphenyl)Irritant - causes eye and skin irritation
Benzenesulfonanilide
Considered hazardous, very little testing has been done on it.
Benzothiazole, 2-(methylthio)Irritant - causes Skin and eye irritation.
Dehydroabietic acid
Toxic to aquatic organisms
Docosane
Irritant - causes Skin irritation
Hexadecanoic acid, butyl ester
Irritant - causes eye, skin and lung irritant. Can cause reproductive effects.
Methyl stearate
Irritant - causes eye, skin and lung irritation.
Octadecane
Irritant - causes kin, eye and respiratory irritation
Octadecanoic acid also known as Stearic acid
Irritant - causes skin, eye and respiratory irritation
Oleic Acid
Irritant - causes skin and eye irritation
Phenol, 2,2'-methylenebis[6-(1,1-dimethylethyl)-4-ethylIrritant - causes skin, eye and respiratory irritation

31

Tetradecanoic acid
Toxic to aquatic organisms. Skin and eye irritant.

Anthracene, 2-methyl-

Acute aquatic toxicity, Not much data available - what there is shows it to be an eye, skin and lung
irritant

Anthracene, 9-methylAcute aquatic toxicity, serious eye irritant

13. Carbon Black

Carbon black plays an extraordinary role in tires, and in their toxicity and potential for harm from
exposures. Well known from decades of air pollution studies, urban epidemiological studies, carbon
black causes lung cancer, brain cancer, kidney cancer, heart disease, neurological disorders, and
cognitive degenerative disease.

A known carcinogen (WHO), we have found variations in percentages of the amount of carbon black in
a tire, from 30%-68%. (EHHI/Yale Study; NY STUDY, .pdf, pp19-20.) Carbon black breaks down into many
sized particles, including PM10/PM2.5. That size particle was shown to cause several types of cancer,
including brain cancer, kidney cancer, kidney disease, bladder cancer, and neurological disease and
cognitive impairment disorders. (CITE; Harvard Mexico Studies and Urban Cohort Studies) We know for
sure that carbon black is in tires, in part from simple observation of color.

32

14. THE NY STUDY CHARACTERIZES TIRE CRUMB THIS WAY:
“The components of Firestone’s and Dow Chemical Company’s rubber are summarized in technical
specification documents. Although they are only two of many different rubber manufacturers, a
similarity between the two vendors is readily apparent, even between three different types of rubber,
solution-SBR, cold polymerized emulsion SBR, and high cis2-4 polybutadiene rubber. In general, the
following similarities were observed between the two manufacturers for the compounds used to
produce the rubber:

• The polymer used to produce solution-SBR contained approximately 18-40% bound styrene.

• The oil content in the polymer ranged from 27.3-32.5% in solution-SBR and cold polymerized emulsion
SBR. Oils used include aromatic oil, high viscosity naphthenic oil, and treated distillate aromatic extract
oil.

• Besides the polymer used, the other components of the rubber were similar between manufacturers
and the relative proportions (parts by weight) of these other components ranged as follows:

o Carbon black: 50.00 – 68.75
o Zinc oxide: 3.00
o Stearic acid: 1.00 – 2.00
o Sulfur: 1.5 – 1.75
o N-tert-butyl benzothiazole sulfonamide (TBBS): 0.9 – 1.50
o Naphthenic or aromatic oil: 5.00 – 15.0

33

The components summarized above are the principal components of the major type of rubber (SBR)
used for the manufacturing of crumb rubber and therefore have the potential to have a significant
presence in crumb rubber. As discussed in subsequent sections of this report, some of these
components have been found to be prevalent in crumb rubber, including zinc (from the zinc oxide),
benzothiazole compounds (from TBBS), and PAHs (possibly from the oils used). These compounds may
be attributed to the SBR used in the manufacturing of crumb rubber.”

15. Phthalates are a regulated toxin, and PEER filings covered some of the toxicity and regulatory
discussion. Please refer to http://www.peer.org/campaigns/public-health/artificial-turf/newsreleases.html

16. ZINC

Coastal Marine Resource Center Study, found fatal levels of zinc in leachate from tire crumb fields. This
amount would cause fatal impacts to aquatic ecosystem within 48 hours. This is a notable amount, and
though was assessed in terms of environmental health, indicates presence.

Menichini and Abate Study: “Zn concentrations (1 to 19 g/kg) and BaP concentrations (0.02 to 11 mg/kg)
in granulates largely exceeded the pertinent standards, up to two orders of magnitude”. “Zinc and BaP
concentrations are high in rubber largely exceeding the Italian soil standards”.

17. METALS: MERCURY, CHROMIUM, ARSENIC

The highest median values were found for Zn (10,229 mg/kg), Al (755 mg/kg), Mg (456 mg/kg), Fe
(305 mg/kg), followed by Pb, Ba, Co, Cu and Sr. The other elements were present at few units of mg/kg.
The highest leaching was observed for Zn (2300 μg/l) and Mg (2500 μg/l), followed by Fe, Sr, Al, Mn and

34

Ba. Little As, Cd, Co, Cr, Cu, Li, Mo, Ni, Pb, Rb, Sb and V leached, and Be, Hg, Se, Sn, Tl and W were below
quantification limits. Data obtained were compared with the maximum tolerable amounts reported for
similar materials, and only the concentration of Zn (total and leached) exceeded the expected values.

18. LEAD, POLITICS and CHILDREN

The problem is synthetic turf is NOT REGULATED as a children's product by the CPSC thwarting the
ability to apply lead regulations that CPSC could enforce.

Lead was identified in synthetic turf fields as early as 2008 but was not addressed in any systemic way
due to lack of standards or required testing (although the CPSC could have required the testing
mandated for children's products since 2008). The CPSC has chosen not to mandate this children's
product testing for synturf and in fact advised the industry about not having it designated as a children's
product < http://parentscoalitionmc.blogspot.com/2009/03/artificial-turf-tale-of-lead-levels.html> .

This has led to a "buyer beware" situation especially after the CPSC tested synthetic turf carpets, found
lead at varying levels depending on sample age, and astoundingly concluded the whole synthetic turf
system was, always and everywhere, safe not just for adults but for children. The assumptions were
based on inappropriate modelling for blood lead levels from a meager sampling and the troubling
finding presupposes that there is, a safe level of blood lead, which most pediatricians and lead experts
agree there is not safe level.

To this day the synthetic turf industry cites the still CPSC-posted "OK to Install, OK to Play on" press
release which should never have been posted to begin with, has been disavowed, in front of US
Congress, by CPSC commissioner Kaye and is an embarrassment to government science, policy and
public health 

35

19. By contrast, The Centers for Disease Control (CDC) in contrast warned and continues to warn the "
there is no safe level of lead" to expose children.

http://www.cdc.gov/nceh/lead/>

http://www.cdc.gov/nceh/information/healthy_homes_lead.htm.
“No safe blood lead level in children has been identified. Lead exposure can affect nearly every system
in the body. Because lead exposure often occurs with no obvious symptoms, it frequently goes
unrecognized"

In 2010 Van Ulirsch et al ( Environ Health Perspect. 2010 Oct;118(10):13459 

22. And for the past 2 years the company FieldTurf has, with impunity, noted its synturf fields contain
lead during testimony on various bills in the Maryland State House.

The latest admission documented on video: 

"....asked point-blank by one delegate, “Is there lead in your products? The executive
answered, “There’s lead in a lot of things in this world.”.... “Yes, there’s lead in our
products." In spite of this admission and the fact that the legislation in question was
meant to post the CDC prescribed warnings about minimizing lead and other toxin
exposures from the synturf and tire waste products, and in spite of the fact that the
legislation had strong and broad input and support, the legislation was not even allowed
to come up for a vote in committee by the committee chair.

23. Public Employees for Environmental Responsibility compiled the literature as of early 2012 on
lead
see:  and
specifically: 2012-07-12_lead-limits-needed-on-tire-crumb-playgrounds (NOTE if you go to PEER.ORG
news releases: click on public health and "artificial turf" to find the actual filings with many links}

37

Unfortunately for the children, fields with high lead remain. But those responsible for protecting
children are kept in the dark. NO ONE IS MONITORING OR REGULATING ARTIFICIAL TURF FOR LEAD OR
OTHER TOXINS in either old or new fields, including the Consumer Product Safety Commission (CPSC)
(see 
For example as reported in that article:

Dr. Shalat's New Jersey State Study (2012) on artificial turf found lead in the field dust in the respirable

38

air space of a robot and real player- highly variable but sometimes very high (note most facilities would
NOT LET THEM TEST).

 2014
" Bio-accessibility and Risk of Exposure to Metals and SVOCs in Artificial Turf Field Fill Materials and
Fibers" , Brian T. Pavilonis1,Clifford P. Weisel1, Brian Buckley1, and Paul J. Lioy1

QUOTE from Pavilonis et al:."Since it is possible that children may be exposed to potentially high
concentrations of lead while using artificial turf fields we recommend, at a minimum, all infill and

39

fibers should be certified for low or no lead content prior to purchase and installation."

*The main out-comes of concern from Pavilonis et al:

a) the finding of lead, and chromium in both the tire crumb and the plastic rug and
simulated body fluids at sometimes extremely high levels *EVEN IN NEW FIELD
CARPETS.*

b) Benzothiazole derivatives and 4-(tert-octyl) phenol were also found in in the
simulated body fluids. Both are probable carcinogens (the subject of another fact sheet).

QUOTE: "Lead was detected in almost all field samples for digestive, sweat, and total
extraction fluids with digestive fluid extract of one field sample as high as 260 mg/kg.
Metal concentrations were not markedly different across the three different sample
types (new infill, new turf fiber, tire crumb field sample). However, one of the *new*
turf fiber samples contained relatively large concentrations of chromium (820 mg/kg)
and lead (4400 mg/kg) compared to the other samples tested…the variability of lead
contained in the infill material is large and can span more than two orders of
magnitude* . One field [tire crumb] sample did contain a high lead level (260 mg/kg)
which was on the same order of magnitude as the NJ DEP cleanup value (400 mg/kg).”

In summary: Lead-free is the only acceptable level for child products (and indeed for
people in general). There is NO safe level of lead for children. And yet many of our
children are playing often, if not daily, on fields that may contain lead and certainly do
contain many other toxic substances. Finding ANY lead in any play area for children of
any age is unacceptable. As the CDC notes: Every effort should be made to eliminate ALL
unnecessary sources of lead in the environment, especially a child's environment. *Lead
in artificial turf is not only totally unnecessary but dangerous to health AT ANY
LEVEL*.
40

28. Other sources of information on Lead in tire crumb fields:

www.ehhi.org/turf/
www.safehealthyplayingfields.org
www.synturf.org

[FOOTNOTE SYN TURF]Where on the Synturf page on lead you can find:
No. 36] Mayo Clinics tips to protect children from lead in artificial turf. April 2015.
No. 35] Durham, New Hampshire: Lead scare at UNH, s Memorial Field. November 2012.
No. 34] Beware of lead content in exotic color artificial turf fields! September 2012.
No. 33] Odessa, Texas: Eager fans will not be given pieces of the artificial turf field. September 2012.
No. 32] U.S. Federal panel increases child protection against lead. February 2012.
No. 31] UNLV researcher spreads word about the need to test artificial turf fields. December 2010.
No. 30] Environmental Health Sciences study (2010): Deteriorating synthetic turf dust containing lead
may pose a risk to children. October 2010.
No. 29] Concord, Mass.: Town replaces fake grass fields, officials insist nothing is wrong with the lead
levels! July 2012

28. TWELVE (12) CARCINOGENS found and HOW DO THEY INTERACT:
The Yale Study identified the presence of so many carcinogenic materials in a single material that it
raises many more questions about interaction of PAHs with metals, and combination impacts. The

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interaction of the PAHs and benzothiazoles with other materials in the fields needs to be characterized
and addressed

29. Strengthening Additives: Nanoparticles
We would also ask for information and clarity about tire strengthening additives of any kind that were
built into the material anytime in the past 30 years, these would have been added to tires.
[http://nice.asu.edu/nano/carbon-black-and-amorphous-silica-tires]

Similarly, we request that the tire manufacturing industry explain their use of nanoparticle products, of
any kind, including the type and size, source company and source country, and ask for an explanation
about how:

a. they can be quantified in the product, and
b. how can they be cleaned up if they are released when the tire crumb and or
plastic “grass” carpet degrades?
c. We would also like to understand what material characterization of their
behavior in tires performance,
d. And or their behavior once they are released into the environment.
e. We ask for any epidemiological due diligence that was conducted by any tire
company on nanoparticle use prior to using them in a commercial product.
f. Plans for continued use and safety precautions tire companies will impose upon
themselves
g. Epidemiological studies conducted on these particles in tires

30. Plastics, Microplastic Fibers, Microbeads, and Small Particulate Plastics

Assessment of microfiber particulate and small particulate plastics needs to be assessed in
characterization studies.

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31. Flame Retardants

Flame retardants can be added to a tire in production, or applied post production in a shipping setting or
possibly as tire crumb. Since flame retardants are known carcinogens with health issues of concern, and
will be on the surface of the waste tire crumb, tire infill providers need to know if they are present, and
purchasers need to know that the material contains flame retardants prior to purchase.

32. Tires and Tire Crumb Additives
Myriad products exist to clean, protect, condition, and color tires. We wonder if they are components
of tire crumb?

33. Road Waste Picked Up By Tires
Tires spend their lives on roadways, of course, and can pick up many materials in their travels. Debris,
hydrocarbons, ….

34 CARINOGENIC, PATHOGENIC, and MUTAGENIC ingredients in tires cannot be removed by
shredding tires into tire crumb and must be assumed to be accessible.

35. Tire crumb and repurposed rubber appear to be the same thing, with interchangeable use… but
are they the same? We would like clarification.

We would like clarification about the distinction between the tire crumb, repurposed crumb rubber,
and crumb rubber. Specifically if using the term “repurposed rubber crumb” implies uniformity of
ingredients? Does that term imply tires are not used? If so, what are the ingredients in repurposed
rubber crumb and how do they differ from tire crumb?

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36. We would also like access to all MSDS/SDS of tire crumb manufacturers and tire companies, and
the ability to ask questions about how and where they were made, variations on lots, source and
composite addendums. It is difficult to locate them.

37. EXEMPTION ON LISTING HAZARDOUS MATERIALS: We would like to understand why tire
companies have an exemption on their need to list ingredients under Section 2: Hazardous Materials of
an MSDS/SDS. We were unable to find the source of that exemption, if it has a deadline, and whether
your study group thinks it is an obstacle to understanding and characterizing risk of exposure from tires
and tire crumb.

38. Of those MSDS that we located, several, like this Michelin North America Material Safety Data Sheet
for Michelin, Uniroyal, BF Goodrich, says in “Section 2 HAZARDOUS INGREDIENTS: Note: Tires meet
the definition of article as defined by the OSHA Hazard Communication Standard (29 CFR 1910.1200)
and are exempt from MSDS requirements.”

There was clearly no mention of 1,3 butadiene, carbon black, POHs, VOCs, benzothiazoles, or any
plasticizers, nor metals, styrene, sulphur, known irritants, or well… anything. Since that section also
outlines corrosive, combustible and waste treatment, it is important for more than this issue. We
explicitly ask CDC/CPSC/EPA if they can use their existing authority to require tire crumb companies and
tire companies to provide ingredient information.

39. SOURCE MATERIAL UNKNOWN: MSDS/SDS CANNOT REPRESENT WHOLE FIELD. Tire crumb comes
from many tires, and many sources. Since not a single tire crumb field can accurately list or track which
tires were source materials, or what other mixed in components, and there is no accountability from
tire crumb recycling industry for the shredded product, then MSDS/SDS cannot be accurate for a whole
field due to variability. Therefore, the burden of “proof” of risk lays squarely on the ability of the
purchaser (schools, sports directors, booster clubs) to assess risk… of a very very complex product. So,

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if the exemption stays in place, we will know for sure that we cannot know what is in a tire crumb based
field.

40. TREATMENT TO SHOW NO PARTICULATE OR BREAKDOWN: SHOW US.
As for studies that claim that their product has been treated (such as cryogenic treatment) to not break
down into dangerous particulate, we are deeply skeptical, and would ask for proof. We also ask for
assay testing over a period of at least several summer weeks. We ask for the researchers to simulate the
pounding over 10 years and assess the particulate characteristics and particle size. That testing in fact is
being done right now… in thousands of children across the country. Simple observation on a player
body, on the sideline benches, or under a microscope shows consistent breakdown into particulate.

41. SHREDDED, PULVERIZED, HIGH SURFACE AREA FORM OF TIRES and ADD INS is LIKELY MORE TOXIC
THAN WHOLE TIRES.
Unfortunately, because it is shredded, pulverized, and in loose and unencapsulated form, tire crumb has
exponentially more surface area than whole tires (Thomas, Gupta study; ) and we are concerned the
material is very likely more toxic––possibly many times more toxic––in the school field form than whole
tire form, since the increased surface area provides more opportunity for molecules to escape. We
know for sure that the increased amount of surface area in tire crumb makes the material in tire crumb
more available to the breathing and exposure zones, and to runoff.

42. CRUMB IS SURROUNDED BY DUST PARTICULATE:
Accurate characterization technique must include a study of the particulate that surrounds tire
crumbs, and steps must be taken to make sure that the sampling process does not inadvertently
remove that dust and particles. We found several examples of the samples being washed, some in
unbuffered water, prior to their analyses being done. Of course, that removes the particulate that
concerns us the most. Distribution of the particulate size and type is important. Those particulate
can become aerosolized by numerous gases and we ask that attempts are made to properly model
this dynamic under high heat conditions, primarily.

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46

47

43. VERY COMPLEX PICTURE From TOXICOLOGY PERSPECTIVE: Tire crumb material is complex from a
toxicology perspective, largely due to the chemical complexity presented by multiple known toxic
components and variation. It has been described as a “toxic soup” of ingredients for which we have no
consistent data on proportions or levels. Characterization of ingredients’ margin of error is unknown..

Testing must be done at the field levels using accepted sampling plans that have been statistically
shown to be valid. Not fields have been tested in sufficient detail to determine or rule out any
exposures or risks. A look at testing protocols for lead in urban soil sites illustrate the level of
attention required and show the degree that current testing has fallen short of that needed for
decision making for children’s health.
44. CONTACT PATTERNS, FIELD USE and ADJACENT BUILDING CONTAMINATION
Exposure is likely determined by ingredients in surface, activity, and number of children or users on
field. Each school or community field has high use and high contact patterns, such as hosting contact
sports, like football, lacrosse, soccer, and baseball, athletic camps, workshops and practices. In those
sports, children dive into the field materials. As a child runs or skids or slide tackles, a column of
material rises up, as does the dust and particulate that surround the tire crumbs themselves.

Testing for exposure need to list weather conditions including humidity, wind speed, and
precipitation, temperature on field surface and ambient air temperature. Number of children on
field, and activity level of that play needs to be recorded, video would be most interesting.

Children of all ages use the fields for multiple sports, recreation and school events. Artificial turf tire
crumb fields abound in elementary schools and at indoor and outdoor sports centers where children of
all ages and all stages of development play soccer, lacrosse, football, track, cheerleading, band, and use
the field for general recreational school activities. In the fields with which we are familiar, families with
members of all ages use the fields; and the community holds events, picnics, special fairs, and activities.
Some fields are immediately adjacent to a school building.). That there are many uses, and probably
many levels of contact and exposure is an important part of characterizing exposures, but both low dose
exposures AND high contact exposure scenarios and use need to be examined, with appropriate
epidemiological process.

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45.. SCHOOL BUILDINGS AND SURROUNDING AREAS ARE CONTAMINATED with a great deal of tire
crumbs. The fields appear to lose from 1-30 tons of material over their 8-10 year life, and some of it
goes directly into buildings, cars, and then homes. This impact needs to be studied as an inadvertent
consequence.

46. CANNOT ARGUE NO INHALATION OR INGESTION RISK or SAFETY FOR EVEN A SINGLE FIELD. We
argue that given the unique characteristic of nonuniformity, known carcinogenic materials, breakdown
into particulate/dust, no known source of origin, and no accurate studies on complex interactivity of
those components in the children’s exposure zone, in the tire crumb as it is installed today in 12, 000
fields, not a single field installer, nor material provider can demonstrate that the material is safe from
inhalation and ingestion during normal use, active use, and on hot days.

47. EVERY USE COULD POSE A TOXIC EXPOSURE and it would be irrational to argue otherwise. We
argue that due to the high variability of toxins in the tire crumb substrate (from tires, unknown
additives, and factory waste add-ins), and lack of any control of the material, well-known sampling
techniques will NOT accurately predict risks to human health.

48. CHILDREN CANNOT AVOID THE EXPOSURES: Since school children cannot self-advocate and take
responsibility for staying off a field if directed to be there by coaches or school officials or parents, we
must assume that children cannot avoid the exposures when they play on those fields.

49. CANNOT CLAIM THAT EXPOSURES WILL NOT OCCUR. Absolutely no way to responsibly claim that
ingestion and inhalation of particulate from the material will NOT occur to those children.

50. HOTSPOTS of intermittent dangerous exposures are possible, and should be expected and
searched for in every field.

We must assume that tires have different “recipes” based on their type of use. Therefore, knowing the
type of tire used in tire crumb, and each tire “recipe” would be helpful in assessing characterization of

49

ingredients. However, there is no way to ever know what tires, or what material is in any field, and
therefore, an MSDS/SDS cannot be representative of any field, or even any meaningful part of a field.
Alarmingly, the high variability in the ingredients presents worrisome “hotspots” potential, where the
hotspots might be missed in sampling but even a single exposure could have very serious impacts for a
child who has the unfortunate luck to dive into that hotspot. PAH’s may be more prevalent, and
present dangerous levels for installation period of the field, and for some unknown period of time
afterwards, and considered a “hotspot”, then the consistent release of PAHs in the subsequent years
could mean low dose, chronic exposures. Both need to be examined.

51. Lead, chromium, mercury and arsenic could be hotspot sources, based on which tires were used,
and how they were treated prior to being placed in the field.

52. For example, when we asked about the source of lead in tire crumb fields, an infill vendor explained
to us that a) lead could be in any field as an ingredient of the tires, of the treatment of tires, and b) once,
they were aware of a shipment of tires that was treated with an anticlumping material that contained
lead and the whole lot had lead, and c) that some lots had flame retardants added as well. They would
never really know, but “most purchasers never ask”, according to the infill material vendor. If an MSDS
was required, an additional charge was to be imposed, since MSDS were not available from the
materials they acquired from China or other countries. We have collected many more examples of the
worrisome unknown ingredients in our fields and can share with the study teams, if requested. While
this information is anecdotal, that is the point: we have no idea what is in any field, for sure.

53. Another example, but this is not anecdotal: in a primary study field exposures in CT, a researcher
found that the children’s monitors showed benzene. Since there is no safe level of exposure for
benzene, and in fact, tires are not expected to have benzene, the field was sampled more closely, until
that “hotspot” was located. The original source of that benzene was not determined, but it was next to
a busy parking lot where cars’ exhaust may have been a source as they turned the corner, or possibly
the tire crumb material had been previously stored in an area with benzene in surrounding
environment, or perhaps it was picked up from contact on roads. We will never know. That finding
suggests that the carbon black in the tires can adsorb additional toxins present near tires or tire crumb,
and could release that material as the fields are pounded with running feet, or possibly on a hot day.

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The proper characterization of this material needs to account for adsorption characteristics of carbon
black, and other interactions

54. The point is, that it is impossible to locate hotspots for all toxins in every field, and incorrect to
extrapolate the risk for a whole field from a single sample or even multiple samples, since every
sample is unique. So, while hotspots can easily be missed in a field, the unfortunate child that dives
into that particular part of a field has an exposure that can actually be life threatening, but missed in
its entirety in the sampling based risk assessment.

55. In fact, since the tire crumb creates multi sized “dust” particles, and off gases, it is impossible to
prove that even a single field is safe from inhalation or ingestion exposures from tire dust particulate,
off-gassing components, multiple toxins and combinations of toxins, and heat.

56. Importance of the Heat Factor: Source of direct injury and chemical catalyst

HOT HOT HOT HOT EXTREMELY HOT FIELDS
Grass playfields remain close to the temperature of ambient air, and are often much cooler. Asphalt
playgrounds used to have a use limit of 141F and many schools remove children from playgrounds
when temperatures get hot. With tire crumb based turf fields, surface temperatures can soar on even
mild sunny days.

Tire crumb fields “superheat” to levels that are routinely over 150F on a sunny spring day, and in a
recent study conducted on a sunny day Utah, found to be close to boiling point, 190F, according to the
Penn State Field Turf Heat Study. The study found that tire crumb field surfaces are hotter than ambient
air, and increase in heat in a non-linear function with each additional degree Kelvin of heat, hence the
designation “superheating”. To draw an example, on a Labor Day Weekend in DC area, with ambient
temps of 82F, the field surface temperature hit 164F by noon on several fields used in a busy,
tournament for about 1000 children, both boys and girls, ages 8-15. Those levels are known to melt
plastic cleats, require tubs of water on the sidelines to cool down shoes, and create heat-related injury

51

including heat stroke, nausea, heat exhaustion, and dehydration in children and all users. It is not
unusual for children players to vomit, faint, and suffer dehydration from hot conditions on the fields.

57. Marketing and sales for these fields tout their usability in all conditions as a benefit (more practice
and play hours), but in fact, the heat build up on fields makes them very uncomfortable during many
days and conditions. In DC, there are over 100 days of sunshine each year, and most are during the
spring, summer and fall, making the fields uncomfortably hot and possibly dangerously hot for a third of
a year. A calculus should be made on the percentage of safe days to play based on field yield risk, and
heat.

58. Tire crumb fields do not have any protection from heat, and so they are irrigated to be cooled
down, but the effect is temporary.

59. To our knowledge, there has been no well known place for doctors nor parents to report heat
injury, though they are commonplace. (This author specifically remembers a hot, poor air quality day in
August in 2014 in Washington DC when during a single practice, 4 soccer players vomited, another child
was taken to the hospital after passing out, and another sidelined himself against the coach’s wishes,
due to extreme dizziness and nausea.)

60. Reluctance to Report? Yet, it is curiously uncommon for school teachers, coaches and parents to
remove the children from the fields, due to temperature. We cannot explain that in rational terms.

We have also noted another curious effect: as football, soccer and lacrosse increase in popularity and
competition in the US, competition for spots on high performance teams is fierce. There is a perception
from strong sales and marketing of the fields, that the turf fields present a competitive edge for a
school, a club or even a teenager trying to get into college, and are worth the high price paid. As
psychologist Dr. Wendy Miller, explains, “ it is a culture where high performance parents, players and
schools might be willing to overlook these injuries, thinking that to complain would jeopardize their
child’s access to a competitive team. This thinking could easily lead to the silencing of reporting of
injuries.”

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Heat injury reporting needs to be included in the survey questionnaires, and victims of heat injury and
illnesses need to have a place to report, with impunity.

61. HEAT MAKES THE CHEMICAL DYNAMICS ABOVE A FIELD VERY COMPLEX
In addition to the serious issue of direct injury from hot playfields to young children, or anyone, the
super hot fields present a very challenging chemical situation.
Dr. David Brown, ShD, toxicologist, professor and former Deputy Director of Public Health Practice
Group at ATSDR/ CDC explains that, “the unintended, and largely unstudied chemical consequences of
what comes off such an enormous quantity of high surface area material, in amounts and sequence that
is scientifically accurate is very difficult to predict and model. Since the chemicals in the area above the
field could change instantaneously, the conditions are critically important (number of players,
temperature, time from last rainfall, etc.), as is the sampling methodology. But no one has been able to
come close to modeling the actual yield, we only know the materials by characterization with samples,
and that variation in samples is so broad as to almost be meaningless, since it could be easy to miss
harmful exposures.”

62. Analyzing the field yield on a hot day is very complex, and challenging to even trained toxicologists.
The superheating of the fields makes gases yield at faster rates as temperatures on the tire crumb
surface increases. So, as a day heats up, it is very likely that the yield increases directly with temperature
increase; a hot day creates more gases. Based on well understood scientific laws, we presume that the
gas yield from the field at surface temperature of 50F (a cloudy day in January in DC) would be
considerably less than a field surface temperature of 158F measured last week. If more gases are
escaping the surface, then there are more “opportunities” for particulate to adsorb onto the surface of
the gases, creating very dynamic series of compounds, none of which would be recommended to
inhale.. The changes in the chemical composition over the fields as their temperatures rise is very
difficult to test and model. These changes happen in an instant… as a threshold is reached… and the
exposures can increase sharply. It is a very sophisticated and difficult challenge to model. But what is the
most important is not only that the 24 gases that escape tire crumb (Norway Study) create dangerous
mixtures but those gas/particulate mixtures, (and air) create a vector for deep lung exposures of all the

53

materials in the tire crumb field. So, on poor air quality days, when there are many children on the field
and a lot of stirring up of the material, the fields could present enormous risk.

63. We are concerned about the range of yield levels, but, we are most concerned about the
intermittent risk to children during those hot periods (a hot, poor air quality summer day during
children’s soccer camp week in Washington DC, for example) when the fields are likely yielding more
gas, and therefore particulate has more “carriage” into lungs, respiration rates are higher, skin is
exposed, and perspiration is highest. All these are likely factors in exposure. It is during those days when
exposures are probably highest, and high enough overwhelm a developing immune system.

64. Exposure Study Needs To Focus On Worst Case Conditions
We acknowledge that the level of yield from the fields might vary widely with material variation, and will
also vary with outdoor weather (temperature, wind, humidity and sun) conditions. Taking averages from
fields across the country will be meaningless, and will only help the industry to expand its message of
“found no harm”. An analogy might be to determine the health of a forest taking 4 samples from 40
locations, evenly spaced, but the sampling might easily miss a blazing forest fire. That one day might
destroy living material exponentially, but it could easily be missed. Dangerous exposures can be
unpredictable in this material due to the scope and scale, the toxic character, and the superheating
characteristic.

65. A better approach is to carefully detect high yield days, and look THAT DAY for exposures in a
child’s body during those periods. Since the exposures might attenuate, the work would have to be
done expeditiously. The harmful exposures may or may not be detectable a day or a month later in a
child. Monitor both genders, for patterns that might lead to that awful air quality soccer camp in the
city on a tire crumb field, on days when vomiting and melting shoes are commonplace. A focus on the
impacts from the high end of those yields we believe will present exposures that are clearly, and
unequivocally harmful from both heat injury perspective and toxicity exposure potential. We do not
know for sure if the carcinogenic exposures from low dose regular exposures or from high dose “events”
are more dangerous, but both need to be studied as separate situations, not as an average.

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66. We urge your team to focus the study resources on primary measurements made in high use
scenarios on hot days, and refrain from the approach used in earlier studies that look at chemical
compositions during winter or rain conditions on limited number of fields.

67. The only reliable way to assess the risk to children from a particular field, or groups of fields, is to
look at their direct exposures, and importantly look at bloodlevels of the known substances.
Cooperation from both high use athletes and those exposed to chronic levels of materials will be
important.

68. The Study Needs To Focus Also On Low Dose Exposure Risks
Trained immunotoxicologists look at the impacts of chronic low dose exposures to metals, PAHs, VOCs
and many other materials in tire crumb. Their input is crucial to understanding risk of exposure in a
developing child.

69. Characterization Mistakes
Studies look convincing, but miss the forest for the trees.
Tire recycling and tire crumb industry reports are quick to point out that when they find harmful
materials in their samples, they are under the known safety limits. There are two interesting fallacies in
that reasoning.

First, since the samples in several studies are few and not uniform, they fail to acknowledge the
statistical significance of finding known regulated toxic material in 2 million pounds of powdered tires…
if one finds the needle, is it luck, or is it because needles are more prevalent than expected?

Proof of presence is meaningful! For example, in the NY Study, PAHs were found, as were metals,
benzothiazoles, and many substances. Their presence indicates a risk.

In a child’s product, since many materials are not known how they affect children, just knowing they are
there is enough to use a precautionary principle and prevent the exposure. Arguing that the materials

55

appear under a limit (especially if that quantity is an average of multiple samples), or there is no
established limit (because it has not been studied), are not as meaningful as the proof of their presence.

Second, though the conclusions of the industry reports may be of no harm found/safety, a close look at
the data itself on PAHs, lead, cobalt, chromium, etc. is useful, since a) it proves presence, and b) at
levels that suggest risk for chronic exposure. Chronic exposure risk is the subject of a great deal of new
cancer research, and we care about all the materials, including those which are potentially toxic.

70. ARGUMENT FOR MORATORIUM BASED ON KNOWN CHARACTERIZATION FOR TIRE CRUMB
Because of the:

a. known loss of 1-30 tons of material from the fields during the 8-10 year “life of the field”
into air and water
b. ingredients list: over 50% of its components are known carcinogens and pathogens, [cite
Yale Study]
c. massive scope and scale of this product, (the amount of material and surface area of
these fields is enormous; scale/millions of pounds in each installation),
d. inability to control the levels of toxic exposure to children, or even properly characterize
them due to immense variation and chemical complexity of what happens on a hot day
over a field, and around children. We cannot suggest mitigation strategies for the
danger, because the material is inconsistent,
e. Even if we did know for sure what was in each field, and suggest mitigation techniques
and protections…. All the tire company has to do is change their recipe, or many recipes,
as they do continually, and the study is worthless. Children are still being exposed to
whatever is in the tire, the lot or that particular field..

71. Moving Target Analogy

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Even if the study were completely successful, and the tire crumb material categorized properly, the
trouble is, tire manufacturers could change the “recipe” for tires… and in fact they do this regularly…
and the study results will be useless, or at best, diminish in usefulness.

Any attempt to study tire crumb safety on turf fields is analogous to trying to hit a moving target. Tire
crumb is a waste product. Tires are not designed or intended to be used as infill for turf fields.

Ingestion, inhalation and absorption of fine particulate by children is not a consideration of tire
manufacturers as they choose chemicals and compounds for their tires. Nor are they bound to maintain
any safety considerations for such use by children.

So any study of present day tire crumb is a futile endeavor, because such study tells us nothing about a
field that gets installed immediately after the study. Tire manufacturers often change the chemical
composition of tires and will likely do so again.

Even if a field passed safely concerns in a present day study, a new field could easily fail a hypothetical
study conducted the day after the present study. So unless every field was tested using the exact same
methodology after every installation, there is absolutely no way to assure the user that their new field is
safe. Those new fields could easily have an entirely different chemical composition simply because tire
manufacturers changed their tire ingredients.

So the present Federal Study is only a backwards looking study, not forward looking. Any conclusion
must be transparent and clear on that issue - upfront and center. Otherwise the public is being misled
into a false sense of security.

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72. Sampling: Not Appropriate For Tire Crumb
The core pediatric toxicology problem in industry based safety studies, is that there appears to be an
assumption that tire crumb is a uniform material, and behaves uniformly. It does not. There also
appears to be an assumption that sampling will be an accurate method for studying tire crumb risk to
children, and it is not. Sampling will not be accurate to assess a nonuniform, heterogeneous material
with multiple known toxic ingredients, high direct contact (dermal, hand to mouth, breathing zone)
for pediatric use. Sampling cannot produce a single sample that is representative of the whole field, or
even a part of the field, other than the sample itself.

73. Methodology needs to study PERFECT STORM exposure conditions, and be able to calculate
exposures during those relatively dangerous days.

Nor can sampling in the way it is proposed (samples from 40 fields across the US), illustrate impacts
from a perfect storm of exposure conditions on a particular field, say, during an intense soccer camp in
in summer in Washington, DC with high ambient and field surface temperatures (ie 160F), bad air
quality, no wind, when working athletes are breathing in particulate with high VOC, PAH,
benzothiazoles, and carbon black… and many more compounds, on a particularly high yield day.
Averages cannot be relied upon in sampling for this type of product, since they will further obscure the
risk from exposures to hot spots of high risk material that are on fields. Averaging the results from a
national distribution in various weather conditions simply obscures the acute risks further; it is useless
for risk analysis. In layman’s terms, it is like studying a forest using “x” number samples, but missing the
forest fire that is blazing away at a nearby area of the park. For a child, it means that she plays on a field
that was called “SAFE TO PLAY”, after sampling, but in fact she might easily have been covered with
multiple materials known to cause cancer, and in fact, that might be a regular event. The uncertainty of
exposure frequency makes the risk higher, not less.

74. The core of the methodology used in the 50 studies asserted by the tire recycling industry were
based on simple characterization of a single sample, but not on realistic, combined, nor worst case
(the most important) use scenarios.

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75. Multiple carcinogen and multiple pathogen combined effects need to be measured. Single
material measurements could be only a fraction of the exposures, since the material exposures are likely
to be from combinations of materials.

76. BIOMONITORING FRONT AND CENTER

Because sampling presents inconclusive results, a methodology that relies on biomontioring will be
more meaningful. We suggest that more sophisticated approach be considered. Personal sampling
monitors attached to children, dermal, urine, breathing analyses, and particularly, blood and tissue
samples from frequent users, players on “Perfect Storm Days” and those expected to have chronic low
dose exposures. We understand that biomonitoring raises more issues, but absent a good model,
empirical data is the most reliable way to accumulate actual evidence of exposures and to be able to
establish a reliable causal link to the cancers and diseases we predict from exposures.

77. IMMUNOTOXICOLOGY SUPPORT: RECRUIT THE BEST PEDIATRIC IMMUNOTOXICOLOGISTS AND
RESEARCHERS. Some researchers and epidemiological professionals are already on the trail of better
ways to identify actual exposures, and can create biomarker groups as indicators of presence of illness
or exposures. These researchers have background in immunological toxicology, and can track subtle
changes in an immune system that might be precursors to serious disease, like cancer, kidney disease,
brain changes, and lung disease. It is possible to create biomarker group to prove tire crumb exposures
in users and we believe that the preliminary proof of concept step could be accomplished in less than 6
months with cooperative athletes, and study volunteers, and modest budget. While we will not list them
here, for protection of their privacy and frankly, for fear of industry retribution, we will nonetheless let
you know that we have found multiple professionals who are capable and willing to work on this task,
provided a protective forum and IRB standards are in place.

78. Immunotoxicology support: look carefully at the ages those immune system markers in all
children who are using these fields, understanding that some metabolic types, and ages may be more

59

vulnerable than others. In fact, there are early indications that certain age groups, such as
prepubescent females (age 8-11), may be more vulnerable to exposures to benzothiazoles, plastics,
phthalates, and endocrine disruptors in general, and therefore might be at higher risk to contract cancer
or disease from low dose particulate exposures from tirecrumb, and the plastic “grass” carpet
particulate. We need to establish the datum from players to study this. We still do not know, but some
indications exist. For that reason, we respectfully request that the study team include toxicologists and
epidemiologists that are trained to keep these concepts front and center.

79. LOW DOSE EXPOSURE CONCEPTS and CONCERNS
Based on what we know now about low dose exposures to VOCs, PAHs, benzothaizoles, styrenes,
carbon black, plastics, plasticizers, and metals, even at low, sub acute exposures, the fields could be very
dangerous. That possibility was not considered in the CPSC study, EPA study, nor in mulitiple industry
studies. These need to be assessed:



Chronic exposure to metals, plastics and plasticizers



Chronic exposure to carbon black mimics air pollution exposures



Immune system reactions



Endocrine disruption exposures from plasticizers and phthalates,



Exposures from multiple low doses and chronic exposures

80. The study should calculate yield of material that leaves the fields, and how it leaves the fields.
How much in the air , water pathways, and with users (in shoes, cars, etc.) Interviews with schools
and vendors need to establish the replacement quantities of these fields, and how often new material
is put into place, since it would affect exposures, and give an indication of gross yields. We estimate
that the fields lose from 1-30 tons (estimated) of material, so exposures and impacts need to be
measured in adjacent buildings, soils, and stormwater systems. With 12,000 existing facilities, this
may need to be the subject of additional studies conducted to also assess if the fields shall be
regulated as point source contamination under Clean Water Act and Clean Air Act. It is a very
important metric, and a perfect opportunity to include it, with little incremental cost, in your study.

60

81. INTEGRITY STANDARDS. To track the history of the emergence of this product is to track effective
lobbying for regulation changes that favored the tire industry, and the tire recycling industry. This
industry took advantage of an enormous quantity of recalled and used tire stockpiles, and heavily sold
and marketed the materials to schools, and sports centers where millions of children play. Central to the
steps that catapulted this industry forward was the removal of the designation of artificial turf fields as
children’s products, based on the rationale that adults played on them, too. Yet the fields continue to be
sold to elementary schools and to sports centers brimming with elementary, middle and high school
players. The sales oriented industry was willing to submit children, schools and communities to the
materials in tires in enormous amounts, and call them safe. As this claim is deeply questioned now, we
also urge you to NOT allow the sampling or data collection to be conducted by an interested party,
including schools, sports centers, athletic group personnel or administrators, field installers or
laboratories or consultants hired by those groups, and establish peer reviewed standards for testing.

82. Any group or individual who does participate in the study, including regulatory staff, needs to sign
an affidavit certifying that she or he, and her/his group has not received compensation or benefits in
any form, including but not limited to sales commissions, direct payment, compensation, bonuses,
grass to artificial turf grant, field financing, water savings rebates (State of California and possibly
others), or physical benefits including but not limited to uniforms, facility enhancements (restrooms,
concession stands, parking lots, storage facilities, etc.), stadium components, or field equipment of
any sort, from the field installers or tire crumb field industry and its assigns, and has no financial
conflict of interest. The document should be filed with an appropriate agency and made public.

83. We ask for full transparency on all parts of the study process for parents, interested parties, and
schools.
OUR REQUESTS TO ASTDR/CDC/CPSC/EPA
Request
1. Regulate tire crumb and rubber mulch as children’s product

61

Background
PEER filed formal request;
12,000 fields x 30,000 tires is the
amount of existing material in
children’s use; see table A for
details on volumes and surface area
sizes, children/schools. Known
carcinogenic material and known

contact.
2. Remove “safe to play, safe to install” or any other references that imply safety from all
EPA, CPSC and CDC websites and public information sources
3. Place all PEER artificial turf filings in Federal Record

PEER Formal Request; agencies
must remove all endorsements of
safety.
http://www.peer.org/campaigns/p
ublic-health/artificial-turf/newsreleases.html

4. Issue a directive to public health agencies to disseminate warnings regarding unknown
risks from lead exposure from AT fields, as well as exposures to carbon black, known
carcinogens, PAH, VOCs into air and water pathways; direct hospital systems and medical
systems to screen for tire crumb field use, and report results
5. Use only independent lab or consultants unassociated with tirecrumb industry, adhering
to high ethics guidelines; transparent process for review; affidavit of no conflict of interest
6. Commission a primary study, conducted by independent, peer reviewed group such as
CDC to examine existing cancers AND illness in tire crumb field users and maintenance
workers of tire crumb fields
7. Mandate Cal Recycle Study corrections to methodology; mandate methodology peer
review; and mandate to impose Prop 65 rule based on OEHHA’s own findings on
carcinogenic exposure
8. Convene a conference for presentation of risks and concerns from parent groups, cancer
survivors to Federal Research Team
9. Convene series of webinars and open comment opportunities
10. Allow public health and environmental advocacy groups in Federal Research Team
with complete transparency
11. Establish a collection point for recording experience of victims and those who may
have suffered injury from use of the fields, including heat injury, concussion or head
trauma, cognitive disorder, illness, and cancer for study and documentation; victim
hotline; for both child and adult contact with fields
12. Funding to identify potential biomarkers of exposure; conclusive marker study in users
13. Conduct blood monitoring and studies on existing cancer survivors.
14. Conduct cancer cluster study on soccer player cluster, and identify additional clusters
such as maintenance workers and installers
15. Provide full transparency with all interested parties
16. Conduct full epidemiological study of tire crumb on playfields existing and predictive
17. Study forms and questionnaires should include data collection on what is released
from fields into air, adjacent areas, water pathways, and quantified. Replacement
quantities for tire crumb fields should be quantified and examined as a metric that
indicates yield.
18. Based on release/yield figures, and other inputs, tire crumb fields should be evaluated
for compliance with Clean Water Act and Clean Air Act, and regulated accordingly.
19. We request that OEHHA study methodology be peer reviewed by your agencies
before it begins, taking into account the comments received in this proceeding.
20. OEHHA Study Process and Methodology Concerns: How will those be considered?
21. Consider explicit protection from retribution steps be put in place to protect
researchers, players, and concerned parents from retribution

62

For parents, schools, athletic groups,
and communities; conduct parent
outreach webinars

Needs participation from
CDC/CPSC/EPA staff so parents
and public can have direct contact

Page 1 of 1

PUBLIC SUBMISSION

As of: 5/3/16 6:44 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8per-4adj
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0080
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Amy Stephan
Organization: Safe and Healthy Playing Fields Coalition

General Comment
Thank you for the opportunity to comment on this important proceeding on behalf of the Safe
and Healthy Playing Fields Coalition we respectfully submit our comment and supporting
material in the attached document. We hope to have the opportunity to provide additional
comments and participate directly in this important study.

Attachments
SHPFC FINAL ASTDR 2016-0002-0003Comments

https://www.fdms.gov/fdms/getcontent?objectId=0900006481fa356c&format=xml&showor... 5/3/2016

Comments on ASTDR 2016-0002-0003
Federal Research Action Plan on
Recycled Tire Crumbs Used on Playing Fields and Playgrounds
Submitted to Federal Register May 2, 2016

SAFE AND HEALTHY PLAYING FIELDS COALITION
www.safehealthyplayingfields.org
A grass roots coalition working for healthier alternatives for children and
communities

INTRODUCTION
On behalf of the millions of children, parents and athletes who play field
sports in the US at schools, parks, athletic facilities and playgrounds, thank
you for agreeing to study the potential harm caused by playing on or being
near athletic fields with surfaces made waste tires. There are more than
12,000 of these playfields in place (15,000 according to the website of a
large company that installs them), and they are being installed at a rate we
estimate to be about 3000 a year. By our calculations, 12,000 fields
currently present 2,380,000 tons or 4,760,000,000 pounds of loose,
unencapsulated tire crumb on their field surface. (See our Table of Runoff
and Material Volumes attached.) Tens of thousands of students and young
athletes play on those fields, many more thousands have direct or indirect
contact with the material. It is a public health issue of substantial
importance.

The following lists our comments on the proposed study. We argue that the
fields present known carcinogenic, neurotoxic, and endocrine disrupting
material in a high surface area, pulverized form that is more toxic than
whole tires, and should never have been allowed near children, or adults,
SHPFC Comments ASTDR-2016-0002-0003 1

because of risk of ingestion and inhalation exposure to all the ingredients in
tires. On warm, sunny days the surface temperature routinely reaches over
150 F, which presents direct, well-known heat injury risks to children. The
heat increases off-gassing of the tire components, increasing the likelihood
of pulmonary exposures, and creates a complex dynamic in the children’s
exposure zone immediately above a field that has not been correctly
modeled or studied yet. The material lacks uniformity, or any regulatory or
exposure controls. We assert that it is impossible to assure even a single
tire crumb field is free of inhalation and ingestion risk of dangerous
particulate and gases inherent in tires, tire crumb, and add-in composites;
and that dangerous and unwanted exposures from lead, benzothiazoles,
carcinogens, phthalates, carbon black and other harmful substances, can
happen with every use. The data gaps are enormous, and we hope
CDC/CPSC/EPA will recognize there is no way the tire crumb industry can
protect any player, on any field, from the potential for dangerous exposures
with normal use. We argue that not enough scrutiny was placed on this
material.

NOTE: The Safe and Healthy Playing Fields Coalition is a grass roots group
of parents, coaches, scientists, public health professionals, toxicologists,
neurobiologists, educators, researchers, plastics engineers, medical
doctors, waste management and remediation professionals who donate
their own time and skills towards helping communities and individuals
assess risks to their communities from tire crumb field use. We do not
have a lobbying firm, law firm, hired laboratory, consultant, or revenuegenerating source (such as tire crumb), and rely solely on the skill of
researchers who donate time to compile our comments. That said, we have
found compelling data that refutes almost all claims of safety, and when we
asked for additional time to compile the information, we were given two
weeks, but denied additional time. Hence, we are working at a
2 SHPFC COMMENTS ASTDR-2016-0002-0003

disadvantage, and hope that during this study year, we will have time and
opportunity to substantiate our concerns, and share our research with the
study officials. One of our comments below explains our requests for a
conference or virtual meeting that allows more disclosure and discussion.

Our comments are listed numerically and organized into: 1. General
Comments, 2. Characterization and methodology comments; 3.Summary
List of requests. A number of supporting documents are also submitted as
part of our comments.

PART I: GENERAL COMMENTS:
1. CPSC/CDC/EPA should use their existing authority to immediately
enforce regulations on tire crumb playgrounds and athletic fields as a
children’s product, since thousands of fields have been installed in
child-care facilities and schools that serve hundreds of thousands of
children.

2. We have grave concerns about their safety to human health and the
environment, since known harmful components in the field material
are released into both air and water pathways, and provide ample
opportunity for both acute and chronic low to high dose exposures
with every use of the field to known toxics such as lead, chromium,
mercury, zinc, PAH, VOC, carbon black, styrene, benzothiazoles, and
plasticizers. Intermittent ‘Hotspots’ of high levels of toxins such as
lead are of particular concern for exposure. (See comments on
Characterization). Every tire crumb playground and synthetic turf field has
material that is known to cause cancer, illnesses, and injury in humans; and
leachate from runoff causes several negative impacts on the aquatic
ecosystems. We believe that the potential for human illness (including
SHPFC Comments ASTDR-2016-0002-0003 3

several cancers) from both low dose and high dose exposures to the
ingredients in tires is staggering. Based on the known potential for
exposures to children, and the finding of a group of now over 200 soccer
players with cancer (the group represents the reach of a single soccer
coach, implying that this group may be the ‘tip of an iceberg’ of affected
individuals), an immediate moratorium on new construction of the fields
should be put in place with the existing authority of CDC/CPSC/EPA, until
the tire crumb fields can be shown to be safe to inhale and ingest.

3. The tire crumb recycling industry, which appears “green” in its
efforts to sell millions of used tires in “repurposed” shredded form, in
fact enables a direct transfer of the contamination burden of waste
tires from landfills/collection sites (in the US and abroad) to the play
surfaces of 12,000 schools and sports centers, where tens of
thousands of children and adults have direct contact with the toxins in
tire crumb materials on the field surface, and these exposures could
happen with every single contact.

4. For the most part, the schools and sports centers do not have
resources to conduct toxicity due diligence; meaning, they do not have
access to a toxicologist who reads the industry studies with their health as
the only priority. Purchasers rely on the tire crumb recycling industry
statements, industry studies, and industry funded websites that claim
toxicology assessment and public health guidance. The sales material can
be striking, and the studies appear convincing on the surface, but our study
groups have found significantly misleading information about the safety
and actual risk of harm from the tire crumb fields to all users, particularly
children. They are likely unaware that the previous CPSC claims that the
fields are “SAFE TO INSTALL; SAFE TO PLAY ON” have been repealed.

4 SHPFC COMMENTS ASTDR-2016-0002-0003

5. PEER Filings. Public Employees for Environmental Responsibility have
filed a number of complaints and documents that argue for a repeal of
endorsements of tire crumb safety from EPA/CPSC, and those statements
were in fact repealed; but most schools and potential purchasers are
unaware of the removal of endorsements and claims of safety. The PEER
filings are an excellent source for telling the toxicity story and regulatory
story of this product. We respectfully request that the entire file of
complaints and responses to the complaints, and other supporting material
be entered into the record for ASTDR 2016-0002-0003.

The full list of documents for the ASTDR 2016-002-0003 collection
and record can be found here:
http://www.peer.org/campaigns/public-health/artificial-turf/newsreleases.html. Please include all in that list, and all supporting
materials.

6. Formal legal requests have been made to classify the tire crumb fields as
a children’s product since children use them, and sales and marketing
material are very clear about tire crumb fields are for children.
CDC/CPSC/EPA should use their existing authority to explicitly label
the fields as children’s products. (Please refer to PEER filings for details
and supporting arguments: http://www.peer.org/campaigns/publichealth/artificial-turf/news-releases.html)

7. CLASSIC CANCER CLUSTER APPEARANCE: SOCCER PLAYERS
Parents and schools may have trusted the “Safe to Play” statements, but
the parents of the 200 young women and men, who played intense
soccer and were stricken with cancer do not trust those claims
anymore.
SHPFC Comments ASTDR-2016-0002-0003 5

The case of over 200 young soccer players who used tire crumb fields and
contracted cancer, strongly indicates a classic cancer cluster, though the
cases have not undergone the formal validation process yet. That is
because a process for the collection of this information, does not exist yet
for either cancer victims, or for other illnesses, head injuries, and heat
injuries/illness from the fields.

8. We respectfully request that an official study of the soccer player
cancer cluster be initiated by CDC immediately.

Through our activist network, we learned about these cases, which were
reported to the NBC news link, or directly to a single, trusted concerned
soccer coach. EHHI reported as follows:
______________________________________
“New Cancer Numbers Among Soccer Players on Synthetic Turf,
April 2016
It is important to remember that the only people counted in the numbers
below are those who have known to call Amy Griffin. There is still no
government agency tracking the cancers among the athletes who have
played on synthetic turf. We know the actual numbers of athletes who have
played on synthetic turf and contracted cancer have to be much greater
than those who have known to report their illness to Amy Griffin.
In January of 2016, there were 159 cancers reported among soccer players;
now (April 2016) there are 166. Ninety-seven of those in January
were goalkeepers; now there are 102. Sixty-one percent of the soccer
players with cancer are goalkeepers. As of this writing, 220 athletes of
various sports who have played on synthetic turf have cancer; 166 soccer
6 SHPFC COMMENTS ASTDR-2016-0002-0003

players who have played on synthetic turf also have cancer.
166 Soccer Players who have played on synthetic turf and have cancer


102 are goalkeepers (61% are goalkeepers)



64 soccer players with lymphomas, 39 are goalkeepers (61%––over
half are goalkeepers)



10 soccer players with Non-Hodgkin lymphoma, 7 are
goalkeepers (70%––over half)



54 soccer players with Hodgkin lymphoma, 32 are
goalkeepers (60%––over half)



41 total leukemias, 24 are goalkeepers (59%––over half)



16 total sarcomas, 7 are goalkeepers (44%)



12 thyroid, 9 are goalkeepers (75%––over half)



11 brain––5 are goalkeepers (45%)



9 testicular––6 are goalkeepers (67%––over half)



4 lung––3 are goalkeepers (almost all are goalkeepers)

Remaining are OTHER rare cancers.”
Source: Various; Victim parent volunteers, EHHI primary collection;
4/2016 (ongoing) _____________________________________________________________

All the victims were frequent users of turf fields, spending multiple hours a
week in close contact with the material in the fields. All were in their midtwenties or younger.

9. The self-reporting to a trusted coach, is also an indication that the
actual illness rates are not yet being properly assessed or managed by
any hospital, medical system, or group; there is no “home” for this
information, yet. The 200+ cancer victim count is likely the reach of a
single coach with the help of a link in broadcast media, and a fraction of the
SHPFC Comments ASTDR-2016-0002-0003 7

actual count of victims of cancer or other serious illnesses. Better
investigation and creating a “safe” place to report serious and intermittent
illness will uncover many more victims, and provide needed perspective on
the accuracy of risk assessment for this product.

10. The CDC and appropriate agencies should issue a directive asking
for adequate screening for injury and disease. That US hospital and
medical systems are not yet set up to collect this data is a contributing
factor; and concurrently, screening for synthetic field use should be part of
a responsible screening protocol. To our utter dismay, we learned from
pediatric oncologists in our group that at least some oncologist are
prohibited from screening victims/patients for tire crumb field use; the
screening must be part of the approved protocol, and tire crumb product is
not yet included..

11. In fact, the number of all injuries from tire crumb fields should be
collected and analyzed to include, but not be limited to: head injury
and concussion; joint injuries (multiple); heat injury; blood cancer;
lymphomas; testicular cancer; pulmonary illness; neurological
impairment; kidney disease; diabetes; brain disease and cancers.
These findings need to be documented, and the children who suffer
from them should be screened for tire crumb field use and proximity.
No doctor or oncologist should be prevented from asking questions,
screening for, or questioning the safety of this product or contact with this
product. We believe there are many more heat related illnesses, head
injuries, and endocrine system disruptions directly resulting from exposure
to the fields than what is being reported.

12. REQUEST MORE INVESTIGATION INTO EXISTING AND POTENTIAL
CANCER CLUSTER: We ask that the multiagency group takes steps to
8 SHPFC COMMENTS ASTDR-2016-0002-0003

expedite the process of collecting epidemiological data and verification of
the current soccer player cluster, and other potential clusters, to include
field maintenance workers who rake the fields, field installers who pour the
millions of pounds of material onto field surfaces, school custodians, high
contact users of any kind, and school children in buildings adjacent to the
fields. Residences near the fields should be considered in the scope of the
study or subsequent studies. In our own informal assessment, and
using the SEER database and known levels of cancer victims, we found
the potential for 7-11 cancer clusters. We respectfully ask the CDC
experts to look into this possibility and take the necessary steps to prevent
additional injury and cancers.

13. NEED FOR EXPLICIT PROTECTION FROM RETRIBUTION: Sadly, the
families, coaches, and school leaders who have reported illnesses do so
with concern for retribution from the tire crumb industry, school
boards, university administrations, and even sports league
administrators, and may need explicit protection and remedy against
retribution. Researchers who study the potential for harm tell us that they
do not have protection from retribution from tire crumb field industry
proponents. Public health and medical professionals sometimes make
statements of concern anonymously to protect themselves from
retribution––professionally and personally from industry proponents.
Adequate protections need to be established to protect the professionals
and parents who speak out.

14. PROTECTION FOR CHILDREN IS NOT A COST-BENEFIT ANALYSIS.
Children have a unique vulnerability to toxic exposures––both intermittent
high exposures––and to low dose exposures, and if we are aware of a
carcinogenic presence, then we are responsible for using a precautionary
principle, and removing that exposure risk. With due respect, this is not a
SHPFC Comments ASTDR-2016-0002-0003 9

cost-benefit analysis that will show a percentage of children will get sick
(cost) vs. tournaments played or jobs created (benefit). It is a decision
made by a civil society that upholds protection for children’s health above
all other industry priorities, and a recognition that tens of thousands of
children, if not hundreds of thousands, are already being exposed to
material with known carcinogenic, and harmful materials on school turf
fields.

15. The CDC/CPSC/EPA should recognize that the fields serve children,
acknowledge that there are zero safety controls on the material and the
potential exposures, and immediately acknowledge tire crumb fields as
children’s products, and use your existing authority to regulate them as
children’s products. Therefore, we emphatically REQUEST THAT THE
CPSC/EPA/CDC USE EXISTING AUTHORITY TO IMMEDIATELY
CLASSIFY ARTIFICIAL TURF AS A CHILDREN’S PRODUCT, SINCE
THOUSANDS OF CHILDREN ALREADY USE THE FIELDS, IN THOUSANDS
OF SCHOOLS.

Since children and adults are already being exposed on tire crumb fields to
the materials in tires, we ask for an immediate moratorium on further
construction of tire crumb based or recycled rubber based artificial
turf fields until adequate assurances that tire crumb particulate, offgassing, and combinations are safe for children to inhale and safe for
children to ingest.

Your three agencies do not need to conduct a study to know with
absolute certainty that tires were not designed to be inhaled by
children, and we should protect children, at any length, from chronic
or lose dose carcinogenic exposures.
1 SHPFC COMMENTS ASTDR-2016-0002-0003
0

Even if we cannot model or know (or will we ever know) the exposures to
each child, each day (and we will never know), we do know with certainty
that:
1. Carcinogens are in tires.
2. Shredded, pulverized tire crumb contains everything in tires, and
more ingredients, including: carbon black, phthalates, VOCs, PAHs,
benzothiazoles, lead, chromium, zinc, nanoparticle additives,
proprietary additives, 12 known carcinogens, 90 materials known to
be harmful to human and environmental health, (EHHI)
3. The material can be inhaled when playing and ingested with contact,
or intermittent adjacent contact.
4. Every single direct or indirect use has the potential for exposure to
hotspots and low dose chronic exposures to multiple scenarios of
these materials.
5. The exposures could impact children, school buildings, and
surrounding areas; contamination travels to cars, homes, and even
children’s bedrooms.
6. It is both within the authority and the responsibility of your three
agencies to take immediate action to protect the public, especially
children, from known carcinogenic, pathogenic exposures.
.
Only a complete moratorium on their use will protect the millions of
children, athletes and bystanders from inhalation and ingestion of the
materials that yield from tire crumb synthetic turf fields.

16. It is also evident that tire crumb will never be safe unless ALL tire
ingredients, all “recipes”, the manufacturing of tires, and then preparation
of materials for fields are controlled from a toxicity perspective. This level
of voluntary cooperation from the tire manufacturing industry will, of
course, never happen.
SHPFC Comments ASTDR-2016-0002-0003 1
1

17. ONLY UNIFORM MATERIAL SAFE TO INHALE AND INGEST IS
APPROPRIATE FOR SCHOOL FIELDS ; UNTIL THEN, A MORATORIUM.
When the play surface material is uniform, consistent, and controlled, when
it is tested by an adequate study with pediatric toxicology assessments to
be safe for ingestion and inhalation, and results are peer reviewed
following IRB standards, then we may consider a synthetic turf field might
be safe. Until then, tire crumb should be rejected from any casual or
unnecessary contact with children or adults.

18. RECONSIDERATION: A reconsideration of the moratorium could occur
when the industry can demonstrate a uniform, non-carcinogenic, noninhalable, non-ingestible alternative that does not present PAH, VOCs,
phthalates, lead, chromium, mercury, 1,3-benzothiazoles, butadiene,
styrenes, carbon black (in particulate, gaseous form, or any form to
children); and the product undergoes strict, peer-reviewed study by
independent qualified toxicologists who have a mandate to protect
children’s health and the health of the environment above the interests of
industry. The hypothetical product should be subject to regular reviews
and quality control determinations to ensure safety over the life of the
synthetic field. Safety Data Sheets should be provided and accessible for
every user. If waste tires are used, the controls requested above will never
be possible, since the tire material, by definition, is a composite of many
toxins in unknown quantities and with unknown impacts.

PART TWO: CHARACTERIZATION OF TIRE CRUMB COMMENTS
1. SCALE AND SCOPE: Tire crumb potential to individuals, buildings,
surrounding areas and stormwater for contamination is enormous.
1 SHPFC COMMENTS ASTDR-2016-0002-0003
2

2. PUBLIC HEALTH ISSUE: SCALE AND SCOPE CONCEPTS
The potential for contamination from tire crumb is a growing public health
issue, in terms of the relative size of the product and its mass; the total
number of potential fields; and their basic contact with students, athletes,
school personnel, buildings, communities, and streams/storm water.

To give an idea of the existing volumes of material, the field runoff and
children affected or who may be affected, we have developed reference
tables, and the summary is attached to this filing These tables indicate the
scope and scale, and demonstrate that these are not isolated fields, nor tiny
exposure potentials. The quantities of material are enormous. The source
and reasoning is explained, but the tables are designed for your model
development and quick reference.

3. ENORMOUS QUANTITIES ON EACH FIELD SURFACE .
To give an idea of the scale, a modest soccer field uses 30,000 waste tires.
According to a randomly selected company selling packaged tire crumb
infill for original or replacement treatments, 30,000 tires makes about
396,667 pounds of lbs of material. According to our calculations, the
volume for 2” thick field is about 525 cubic yards, However, a large
football field, three times the size of a small soccer field, could use
1,000,000 pounds of tire crumb material.

4. The tires are shredded, pulverized into crumb of various sizes, and the
shredded material is poured on top of a plastic “grass” carpet. Importantly,
the material is loose, unencapsulated and can loft into the air when struck
by a ball or foot, or body. We estimate that, depending on the school, each
field has regular, daily contact with at least 1000 athletes and students. At

SHPFC Comments ASTDR-2016-0002-0003 1
3

sports events, busy tournaments, or with active use, a field can have
contact with many, many more.

5. No fields we found have mandated capture of the leachate or
particulate at the field.

6. TOTAL FIELD VOLUMES POTENTIAL:. The universe of potential tire
crumb playfields is approximately 200,000 - 220,000 schools and athletic
facilities in the US, based on number of schools. The potential reach of
exposure from use of these fields is in the millions of children, millions of
adults, hundreds of thousands of exposed buildings and adjacent soils, and
hundreds of thousands of public easements and storm water access points
(we estimate 1:1 ratio for field to point source drainage).

7. TABLE RUNOFF AND VOLUMES: SUMMARY OF KEY METRICS

For reference, we analysed fields by sport type, by Metropolitan Service
Area, and calculated the volumes for rainfall (by city), and for amount of
tire crumb material on a field surface.

Key metrics are the following:



Estimated tire crumb per 85,000 sq feet field and 2” deep tire crumb
infill is 525 cubic yards, 396,667 pounds, or 198 tons per field.



The total amount of tire crumb material on surface of 12,000
fields is estimated to be 6,296,296 cubic yards, or
4,760,000,000 pounds or 2,380,000 tons that are currently in
sports centers and schools in April 2016..

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

Runoff is calculated by city and field size, but the total runoff
for fields in the top 50 MSAs is 15,006,99,787 gallons.



Total Runoff for 12,000 fields based on number of fields per MSA,
accounting for rainfall in that MSA, and added together for 2016 is:
23,370,639,827 gallons… for a single year.

The calculations were made to illustrate the scale and scope of this product,
and to characterize the reach of exposures from the field surface into the
airway, and into the water pathway.

8. INGREDIENTS IN TIRE CRUMB: Lack Of Uniformity, High Variation,
Multiple Toxins
Tire crumb appears to be a composite material, heterogenous with multiple
known carcinogens, pathogens, and mutagens. The material is not uniform,
comes from multiple sources and lots, and can be mixed with plastics and
materials of unknown origin. The material can have anticlumping agents,
flame retardant additives, paint, and strengthening or characteristic
enhancing additives. Shredding of tires can cause small pieces of steel or
metals to be included in the material from steel belted tires. Some tire
crumb is from newer depositories from recalled tires, some from landfills,
and some have been subjected to a variety of weather and conditions.
Leachate and off gassing could be variable, with the expectation that newly
installed/poured material off-gassing is higher than from an older field, but
we expect those rates would vary with the age of the tires from which the
tire crumb was made.

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9. HETEROGENEOUS, MULTIPLE TOXINS, UNKNOWN ORIGIN: To say that
tire crumb infill comes from multiple sources, is an understatement:
dispensaries, landfills in the US, landfills abroad, collection centers, factory
waste from China, factory waste from the US and abroad. Some of the
newer marketed blends included multi colored sport shoe waste, shoe
factory waste, and many unidentified synthetic materials. Just as tire
companies may add anything to their “recipe” for a tire, an infill provider
may offer materials that could have anything added into the blend. Tire
plugs, tire polishes, tire coatings, and materials picked up on the roads
should be considered. And even if it is known that there are only tires in
the blend, there is a broad variation in the ingredients based on the use of
the tire, and the manufacturer. Those tires may look the same, but from a
toxicity standpoint their variation and the unknowns in the “recipe” create
a margin of uncertainty that makes any claim of known safety for inhalation
or ingestion impossible. If a vendor says he or she knows what is in a lot of
tire crumb, and that is known to be safe, then they ignored the materials in
the product. Since we never know what is in any field for sure, and if we
know that they have tire crumb, they cannot be demonstrated safe for
children to inhale, ingest, nor play upon.

10. What Is In Tires? SOME GROUPS WENT LOOKING
Since it was difficult from MSDS or any other source to identify the
components in tires or tire crumb, some groups studied them directly.
11. Environment and Human Health Inc, and Yale University Study
EHHI, Inc. in cooperation with Yale University studied samples of rubber
mulch, and new tire crumb with the intent of characterizing their
ingredients.
The summary text of their characterization study is found here:
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http://www.ehhi.org/turf/metal_analysis2016.shtml
http://www.ehhi.org/turf/findings0815.shtml
The EHHI/Yale Study list of components found is explained this way:
The shredded rubber tire playground mulch samples tested were provided
by the manufacturer and were purchased in new bags of rubber mulch for
use in gardens and playgrounds. The rubber tire infill for synthetic turf
fields was obtained as new infill material from installers of synthetic turf
fields. There were 5 samples of infill from 5 different installers of fields and
9 different samples of rubber mulch taken from 9 different unopened bags
of playground mulch.
RESULTS
 There were 96 chemicals found in 14 samples analyzed. Half of
those chemicals had no government testing on them - so we have no idea
whether they are safe or harmful to health. Of those chemicals found that
have had some government testing done on them these are the findings
with their health effects.

TWELVE (12) KNOWN CARCINOGENS
2-Mercaptobenzothiazole/ Carcinogen, toxic to aquatic life
9,10-Dimethylanthracene/ Carcinogen, respiratory irritant and can cause
asthma
Bis(2-ethylhexyl) phthalate/ Carcinogen, may cause damage to fetuses
Fluoranthene / Carcinogen, Fluoranthene is one of the US EPA's 16
priority pollutant, A PAH.
Heptadecane/ Carcinogen
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2-mercaptobenzothiazole / Carcinogen
Phenol, 4-(1,1,3,3-tetramethylbutyl)/Carcinogen
Phenanthrene/ Carcinogen - A PAH
Phthalimide/ Carcinogen, skin, eye and lung irritan. A Fungicide
Pyrene, 1-methyl- /Carcinogen
Tetratriacontane /Carcinogen, eye and skin irritant. Can cause systemic
damage to central nervous system.
Pyrene/ Carcinogen, toxic to liver and Kidneys, a PAH
Carbon Black/ Carcinogen
Carbon Black makes up to 20% to 30 % of every tire. It is used as a
reinforcing filler. Carbon Black is listed as a carcinogen by the International
Agency for Research on Cancer (IARC).
Carbon Black, as such, was not analyzed by the Yale Study because Carbon
Black is made up of a number of chemicals – some of which were found in
the Yale study.
Carbon Black is not one chemical -- it is made up of many chemicals - often
of petroleum products. Furthermore, carbon black has no fixed
composition, even of the many compounds it contains. Carbon black from
different sources will have
differing compositions. In our method, carbon black will register as
a series of substances extracted from it. There is no carbon black
molecule, it is a mixture.
TWENTY (20) KNOWN IRRITANTS

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1,4-Benzenediamine, N-(1,3-dimethylbutyl)-N'-phenylIrritant - causes skin and eye irritation, toxic to aquatic life
1,4-Benzenediamine, N-(1-methylethyl)-N'-phenylIrritant - causes skin and eye irritation, toxic to aquatic life
2(3H)-Benzothiazolone
Irritant - causes skin and lung irritantation
2-Dodecen-1-yl(-)succinic anhydride
Irritant - causes eyes, skin and lungs irritation
3,5-di-tert-Butyl-4-hydroxybenzaldehyde
Irritant - causes irritation to eyes, skin and lungs.
Anthracene
Irritant - causes skin, eye and respiratory irritation. Breathing it can
irritate the nose, throat and lungs causing coughing and wheezing.
Benzenamine, 4-octyl-N-(4-octylphenyl)Irritant - causes eye and skin irritation
Benzenesulfonanilide
Considered hazardous, very little testing has been done on it.
Benzothiazole, 2-(methylthio)Irritant - causes Skin and eye irritation.
Dehydroabietic acid
Toxic to aquatic organisms
Docosane
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Irritant - causes Skin irritation
Hexadecanoic acid, butyl ester
Irritant - causes eye, skin and lung irritant. Can cause reproductive effects.
Methyl stearate
Irritant - causes eye, skin and lung irritation.
Octadecane
Irritant - causes kin, eye and respiratory irritation
Octadecanoic acid also known as Stearic acid
Irritant - causes skin, eye and respiratory irritation
Oleic Acid
Irritant - causes skin and eye irritation
Phenol, 2,2'-methylenebis[6-(1,1-dimethylethyl)-4-ethylIrritant - causes skin, eye and respiratory irritation
Tetradecanoic acid
Toxic to aquatic organisms. Skin and eye irritant.
Anthracene, 2-methylAcute aquatic toxicity, Not much data available - what there is shows it to
be an eye, skin and lung irritant
Anthracene, 9-methylAcute aquatic toxicity, serious eye irritant
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13. Carbon Black
Carbon black plays an extraordinary role in tires, and in their toxicity and
potential for harm from exposures. Well known from decades of air
pollution studies, urban epidemiological studies, airborne carbon black
causes lung cancer, brain cancer, kidney cancer, heart disease, neurological
disorders, and cognitive degenerative disease.
A known carcinogen (WHO), we have found variations in percentages of
the amount of carbon black in a tire, from 30%-68%. (EHHI/Yale Study; NY
STUDY, .pdf, pp19-20.) Carbon black breaks down into many sized
particles, including PM10/PM2.5 and potentially smaller. That size particle
was shown to cause several types of cancer, including brain cancer, kidney
cancer, kidney disease, bladder cancer, and neurological disease and
cognitive impairment disorders. (CITE; Harvard Mexico Studies and Urban
Cohort Studies).
14. THE NY STUDY CHARACTERIZES TIRE CRUMB THIS WAY:
“The components of Firestone’s and Dow Chemical Company’s rubber are
summarized in technical specification documents. Although they are only
two of many different rubber manufacturers, a similarity between the two
vendors is readily apparent, even between three different types of rubber,
solution-SBR, cold polymerized emulsion SBR, and high cis2-4
polybutadiene rubber. In general, the following similarities were observed
between the two manufacturers for the compounds used to produce the
rubber:
• The polymer used to produce solution-SBR contained approximately 1840% bound styrene.

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• The oil content in the polymer ranged from 27.3-32.5% in solution-SBR
and cold polymerized emulsion SBR. Oils used include aromatic oil, high
viscosity naphthenic oil, and treated distillate aromatic extract oil.
• Besides the polymer used, the other components of the rubber were
similar between manufacturers and the relative proportions (parts by
weight) of these other components ranged as follows:
o Carbon black: 50.00 – 68.75
o Zinc oxide: 3.00
o Stearic acid: 1.00 – 2.00
o Sulfur: 1.5 – 1.75
o N-tert-butyl benzothiazole sulfonamide (TBBS): 0.9 – 1.50
o Naphthenic or aromatic oil: 5.00 – 15.0
The components summarized above are the principal components of the
major type of rubber (SBR) used for the manufacturing of crumb rubber
and therefore have the potential to have a significant presence in crumb
rubber. As discussed in subsequent sections of this report, some of these
components have been found to be prevalent in crumb rubber, including
zinc (from the zinc oxide), benzothiazole compounds (from TBBS), and
PAHs (possibly from the oils used). These compounds may be attributed to
the SBR used in the manufacturing of crumb rubber.”
15. Phthalates are a regulated toxin, and PEER filings covered some of
the toxicity and regulatory discussion. Please refer to
http://www.peer.org/campaigns/public-health/artificial-turf/newsreleases.html
16. ZINC
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Coastal Marine Resource Center Study, found levels of zinc in leachate from
tire crumb fields with fatal impacts to an aquatic ecosystem within 48
hours.
Menichini and Abate Study: “Zn concentrations (1 to 19 g/kg) and BaP
concentrations (0.02 to 11 mg/kg) in granulates largely exceeded the
pertinent standards, up to two orders of magnitude”. “Zinc and BaP
concentrations are high in rubber largely exceeding the Italian soil
standards”.
17. METALS: MERCURY, CHROMIUM, ARSENIC
The highest median values were found for Zn (10,229 mg/kg), Al
(755 mg/kg), Mg (456 mg/kg), Fe (305 mg/kg), followed by Pb, Ba, Co, Cu
and Sr. The other elements were present at few units of mg/kg. The highest
leaching was observed for Zn (2300 μg/l) and Mg (2500 μg/l), followed by
Fe, Sr, Al, Mn and Ba. Little As, Cd, Co, Cr, Cu, Li, Mo, Ni, Pb, Rb, Sb and V
leached, and Be, Hg, Se, Sn, Tl and W were below quantification limits. Data
obtained were compared with the maximum tolerable amounts reported
for similar materials, and only the concentration of Zn (total and leached)
exceeded the expected values.
18. LEAD, POLITICS and CHILDREN
The problem is synthetic turf is NOT REGULATED as a children's
product by the CPSC thwarting the ability to apply lead regulations
that CPSC could enforce.
Lead was identified in synthetic turf fields as early as 2008 but was not
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addressed in any systemic way due to lack of standards or
required testing (although the CPSC could have required the testing
mandated for children's products since 2008). The CPSC has chosen not to
mandate this children's product testing for synturf and in fact advised the
industry about not having it designated as a children's product
< http://parentscoalitionmc.blogspot.com/2009/03/artificial-turf-tale-oflead-levels.html> .
This has led to a "buyer beware" situation especially after the CPSC tested
synthetic turf carpets, found lead at varying levels depending on sample
age, and astoundingly concluded the whole synthetic turf system was,
always and everywhere, safe not just for adults but for children. The
assumptions were based on inappropriate modelling for blood lead levels
from a meager sampling and the troubling finding presupposes that there
is, a safe level of blood lead, which most pediatricians and lead experts
agree there is not safe level.
To this day the synthetic turf industry cites the still CPSC-posted "OK to
Install, OK to Play on" press release which should never have been posted
to begin with, has been disavowed, in front of US Congress, by CPSC
commissioner Kaye and is an embarrassment to government science, policy
and public health 
19. The Centers for Disease Control (CDC) in contrast
warned and continues to warn that" there is no safe level of lead" to
expose children to.
http://www.cdc.gov/nceh/lead/>
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http://www.cdc.gov/nceh/information/healthy_homes_lead.htm.
“No safe blood lead level in children has been identified. Lead exposure
can affect nearly every system in the body. Because lead exposure often
occurs with no obvious symptoms, it frequently goes unrecognized"
In 2010 Van Ulirsch et al ( Environ Health Perspect. 2010
Oct;118(10):1345-9 
22. And for the past 2 years the company FieldTurf has, with impunity,
noted its synturf fields contain lead during testimony on various bills in the
Maryland State House.
The latest admission documented on video:

"....asked point-blank by one delegate, “Is there lead in your
products? The executive answered, “There’s lead in a lot of things in
this world.”.... “Yes, there’s lead in our products." In spite of this
admission and the fact that the legislation in question was meant to
post the CDC prescribed warnings about minimizing lead and other
toxin exposures from the synturf and tire waste products, and in
spite of the fact that the legislation had strong and broad input and
support, the legislation was not even allowed to come up for a vote
in committee by the committee chair.
23. Public Employees for Environmental Responsibility compiled the
literature as of early 2012 on lead
see:  and specifically: 2012-07-12_lead-limits-needed-on-tirecrumb-playgrounds (NOTE if you go to PEER.ORG news releases: click on
public health and "artificial turf" to find the actual filings with many links}
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Unfortunately for the children, fields with high lead remain. But those
responsible for protecting children are kept in the dark. NO ONE IS
MONITORING OR REGULATING ARTIFICIAL TURF FOR LEAD OR OTHER
TOXINS in either old or new fields, including the Consumer Product Safety
Commission (CPSC) (see 
For example as reported in that article:
Dr. Shalat's New Jersey State Study (2012) on artificial turf found lead in
the field dust in the respirable air space of a robot and real player- highly
variable but sometimes very high (note most facilities would NOT LET
THEM TEST).
 2014
" Bio-accessibility and Risk of Exposure to Metals and SVOCs in
Artificial Turf Field Fill Materials and Fibers" , Brian T.
Pavilonis1,Clifford P. Weisel1, Brian Buckley1, and Paul J. Lioy1
QUOTE from Pavilonis et al:."Since it is possible that children may be
exposed to potentially high concentrations of lead while using
artificial turf fields we recommend, at a minimum, all infill and fibers
should be certified for low or no lead content prior to purchase and
installation."
*The main out-comes of concern from Pavilonis et al:
a) the finding of lead, and chromium in both the tire crumb and
the plastic rug and simulated body fluids at sometimes extremely
high levels *EVEN IN NEW FIELD CARPETS.*
b) Benzothiazole derivatives and 4-(tert-octyl) phenol were also
found in in the simulated body fluids. Both are probable carcinogens
(the subject of another fact sheet).
QUOTE: "Lead was detected in almost all field samples for
digestive, sweat, and total extraction fluids with digestive fluid
extract of one field sample as high as 260 mg/kg. Metal
concentrations were not markedly different across the three
different sample types (new infill, new turf fiber, tire crumb field
sample). However, one of the *new* turf fiber samples contained
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relatively large concentrations of chromium (820 mg/kg) and
lead (4400 mg/kg) compared to the other samples tested…the
variability of lead contained in the infill material is large and can
span more than two orders of magnitude* . One field [tire crumb]
sample did contain a high lead level (260 mg/kg) which was on the
same order of magnitude as the NJ DEP cleanup value (400
mg/kg).”
In summary: Lead-free is the only acceptable level for child
products (and indeed for people in general). There is NO safe level
of lead for children. And yet many of our children are playing
often, if not daily, on fields that may contain lead and certainly do
contain many other toxic substances. Finding ANY lead in any play
area for children of any age is unacceptable. As the CDC notes: Every
effort should be made to eliminate ALL unnecessary sources of lead
in the environment, especially a child's environment. *Lead in
artificial turf is not only totally unnecessary but dangerous to
health AT ANY LEVEL*.
28. Other sources of information on Lead in tire crumb fields:
www.ehhi.org/turf/
www.safehealthyplayingfields.org
www.synturf.org
At www.synturf.org , a sampling of findings of lead on fields is available on
the page on lead:
No. 36] Mayo Clinics tips to protect children from lead in artificial turf.
April 2015.
No. 35] Durham, New Hampshire: Lead scare at UNH, s Memorial Field.
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November 2012.
No. 34] Beware of lead content in exotic color artificial turf fields!
September 2012.
No. 33] Odessa, Texas: Eager fans will not be given pieces of the artificial
turf field. September 2012.
No. 32] U.S. Federal panel increases child protection against lead. February
2012.
No. 31] UNLV researcher spreads word about the need to test artificial turf
fields. December 2010.
No. 30] Environmental Health Sciences study (2010): Deteriorating
synthetic turf dust containing lead may pose a risk to children. October
2010.
No. 29] Concord, Mass.: Town replaces fake grass fields, officials insist
nothing is wrong with the lead levels! July 2012

28. TWELVE (12) CARCINOGENS found and HOW DO THEY
INTERACT:
The Yale Study identified the presence of so many carcinogenic materials in
a single material that it raises many more questions about interaction of
PAHs with metals, and combination impacts. The interaction of the PAHs
and benzothiazoles with other materials in the fields needs to be
characterized and addressed
29. Strengthening Additives: Nanoparticles
We would also ask for information and clarity about tire strengthening
additives of any kind that were built into the material anytime in the past
30 years, these would have been added to tires.
[http://nice.asu.edu/nano/carbon-black-and-amorphous-silica-tires]

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Similarly, we request that the tire manufacturing industry explain their use
of nanoparticle products, of any kind, including the type and size, source
company and source country, and ask for an explanation about how:
a. they can be quantified in the product, and
b. how can they be cleaned up if they are released when the tire
crumb and or plastic “grass” carpet degrades?
c. We would also like to understand what material
characterization of their behavior in tires performance,
d. And or their behavior once they are released into the
environment.
e. We ask for any epidemiological due diligence that was
conducted by any tire company on nanoparticle use prior to
using them in a commercial product.
f. Plans for continued use and safety precautions tire
companies will impose upon themselves
g. Epidemiological studies conducted on these particles in tires
30. Plastics, Microplastic Fibers, Microbeads, and Small Particulate
Plastics
Assessment of microfiber particulate and small particulate plastics needs to
be assessed in characterization studies.
31. Flame Retardants
Flame retardants can be added to a tire in production, or applied post
production in a shipping setting or possibly as tire crumb. Since flame
retardants are known carcinogens with health issues of concern, and will
be on the surface of the waste tire crumb, tire infill providers need to know

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if they are present, and purchasers need to know that the material contains
flame retardants prior to purchase.
32. Tires and Tire Crumb Additives
Myriad products exist to clean, protect, condition, and color tires. We
wonder if they are components of tire crumb?
33. Road Waste Picked Up By Tires
Tires spend their lives on roadways, of course, and can pick up many
materials in their travels. Debris, hydrocarbons, ….

34 CARCINOGENIC, PATHOGENIC, Endocrine disrupting and other
harmful ingredients in tires cannot be removed by shredding tires
into tire crumb and must be assumed to be accessible.

35. Tire crumb and repurposed rubber appear to be the same thing,
with interchangeable use… but are they the same? We would like
clarification.
We would like clarification about the distinction between the tire crumb,
repurposed crumb rubber, and crumb rubber. Specifically if using the term
“repurposed rubber crumb” implies uniformity of ingredients? Does that
term imply tires are not used? If so, what are the ingredients in repurposed
rubber crumb and how do they differ from tire crumb?
36. We would also like access to all MSDS/SDS of tire crumb
manufacturers and tire companies, and the ability to ask questions about
how and where they were made, variations on lots, source and composite
addendums. It is difficult to locate them.
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37. EXEMPTION ON LISTING HAZARDOUS MATERIALS: We would like
to understand why tire companies have an exemption on their need to list
ingredients under Section 2: Hazardous Materials of an MSDS/SDS. We
were unable to find the source of that exemption, if it has a deadline, and
whether your study group thinks it is an obstacle to understanding and
characterizing risk of exposure from tires and tire crumb.
38. Of those MSDS that we located, several, like this Michelin North
America Material Safety Data Sheet for Michelin, Uniroyal, BF Goodrich,
says in “Section 2 HAZARDOUS INGREDIENTS: Note: Tires meet the
definition of article as defined by the OSHA Hazard Communication
Standard (29 CFR 1910.1200) and are exempt from MSDS
requirements.”
There was clearly no mention of 1,3 butadiene, carbon black, POHs, VOCs,
benzothiazoles, or any plasticizers, nor metals, styrene, sulphur, known
irritants, or well… anything. Since that section also outlines corrosive,
combustible and waste treatment, it is important for more than this issue.
We explicitly ask CDC/CPSC/EPA if they can use their existing authority to
require tire crumb companies and tire companies to provide ingredient
information.
39. SOURCE MATERIAL UNKNOWN: MSDS/SDS CANNOT REPRESENT
WHOLE FIELD. Tire crumb comes from many tires, and many sources.
Since not a single tire crumb field can accurately list or track which tires
were source materials, or what other mixed in components, and there is no
accountability from tire crumb recycling industry for the shredded product,
then MSDS/SDS cannot be accurate for a whole field due to variability.
Therefore, the burden of “proof” of risk lays squarely on the ability of the
purchaser (schools, sports directors, booster clubs) to assess risk… of a
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very very complex product. So, if the exemption stays in place, we will
know for sure that we cannot know what is in a tire crumb based field.

40. TREATMENT TO SHOW NO PARTICULATE OR BREAKDOWN:
SHOW US.
As for studies that claim that their product has been treated (such as
cryogenic treatment) to not break down into dangerous particulate, we are
deeply skeptical, and would ask for proof. We also ask for assay testing
over a period of at least several summer weeks. We ask for the researchers
to simulate the pounding over 10 years and assess the particulate
characteristics and particle size. That testing in fact is being done right
now… in thousands of children across the country. Simple observation on a
player body, on the sideline benches, or under a microscope shows
consistent breakdown into particulate.

41. SHREDDED, PULVERIZED, HIGH SURFACE AREA FORM OF TIRES
and ADD INS is LIKELY MORE TOXIC THAN WHOLE TIRES.
Unfortunately, because it is shredded, pulverized, and in loose and
unencapsulated form, tire crumb has exponentially more surface area than
whole tires (Thomas, Gupta study; ) and we are concerned the material is
very likely more toxic––possibly many times more toxic––in the school
field form than whole tire form, since the increased surface area provides
more opportunity for molecules to escape. We know for sure that the
increased amount of surface area in tire crumb makes the material in tire
crumb more available to the breathing and exposure zones, and to runoff.

42. CRUMB IS SURROUNDED BY DUST PARTICULATE:
Accurate characterization technique must include a study of the particulate
that surrounds tire crumbs, and steps must be taken to make sure that the
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sampling process does not inadvertently remove that dust and particles.
We found several examples of the samples being washed, some in
unbuffered water, prior to their analyses being done. Of course, that
removes the particulate that concerns us the most. Distribution of the
particulate size and type is important. Those particulate can become
aerosolized by numerous gases and we ask that attempts are made to
properly model this dynamic under high heat conditions, primarily.

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43. VERY COMPLEX PICTURE From TOXICOLOGY PERSPECTIVE: Tire
crumb material is complex from a toxicology perspective, largely due to the
chemical complexity presented by multiple known toxic components and
variation. It has been described as a “toxic soup” of ingredients for which
we have no consistent data on proportions or levels. Characterization of
ingredients’ margin of error is unknown..
Testing must be done at the field levels using accepted sampling plans that have
been statistically shown to be valid. Not fields have been tested in sufficient
detail to determine or rule out any exposures or risks. A look at testing protocols
for lead in urban soil sites illustrate the level of attention required and show the
degree that current testing has fallen short of that needed for decision making
for children’s health.

44. CONTACT PATTERNS, FIELD USE and ADJACENT BUILDING
CONTAMINATION
Exposure is likely determined by ingredients in surface, activity, and
number of children or users on field. Each school or community field has
high use and high contact patterns, such as hosting contact sports, like
football, lacrosse, soccer, and baseball, athletic camps, workshops and
practices. In those sports, children dive into the field materials. As a child
runs or skids or slide tackles, a column of material rises up, as does the dust
and particulate that surround the tire crumbs themselves.
Testing for exposure need to list weather conditions including humidity,
wind speed, and precipitation, temperature on field surface and ambient air
temperature. Number of children on field, and activity level of that play
needs to be recorded, video would be most interesting.
Children of all ages use the fields for multiple sports, recreation and school
events. Artificial turf tire crumb fields abound in elementary schools and at
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indoor and outdoor sports centers where children of all ages and all stages
of development play soccer, lacrosse, football, track, cheerleading, band,
and use the field for general recreational school activities. In the fields
with which we are familiar, families with members of all ages use the fields;
and the community holds events, picnics, special fairs, and activities. Some
fields are immediately adjacent to a school building.). That there are many
uses, and probably many levels of contact and exposure is an important
part of characterizing exposures, but both low dose exposures AND high
contact exposure scenarios and use need to be examined, with appropriate
epidemiological process.
45.. SCHOOL BUILDINGS AND SURROUNDING AREAS ARE
CONTAMINATED with a great deal of tire crumbs. The fields appear to
lose from 1-30 tons of material over their 8-10 year life, and some of it goes
directly into buildings, cars, and then homes. This impact needs to be
studied as an inadvertent consequence.

46. CANNOT ARGUE NO INHALATION OR INGESTION RISK or SAFETY
FOR EVEN A SINGLE FIELD. We argue that given the unique characteristic
of nonuniformity, known carcinogenic materials, breakdown into
particulate/dust, no known source of origin, and no accurate studies on
complex interactivity of those components in the children’s exposure zone,
in the tire crumb as it is installed today in 12, 000 fields, not a single field
installer, nor material provider can demonstrate that the material is safe
from inhalation and ingestion during normal use, active use, and on hot
days.

47. EVERY USE COULD POSE A TOXIC EXPOSURE and it would be
irrational to argue otherwise. We argue that due to the high variability of
toxins in the tire crumb substrate (from tires, unknown additives, and
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factory waste add-ins), and lack of any control of the material, well-known
sampling techniques will NOT accurately predict risks to human health.

48. CHILDREN CANNOT AVOID THE EXPOSURES: Since school children
cannot self-advocate and take responsibility for staying off a field if
directed to be there by coaches or school officials or parents, we must
assume that children cannot avoid the exposures when they play on those
fields.

49. CANNOT CLAIM THAT EXPOSURES WILL NOT OCCUR. Absolutely
no way to responsibly claim that ingestion and inhalation of particulate
from the material will NOT occur to those children.

50. HOTSPOTS of intermittent dangerous exposures are possible, and
should be expected and searched for in every field.

We must assume that tires have different “recipes” based on their type of
use. Therefore, knowing the type of tire used in tire crumb, and each tire
“recipe” would be helpful in assessing characterization of ingredients.
However, there is no way to ever know what tires, or what material is in
any field, and therefore, an MSDS/SDS cannot be representative of any
field, or even any meaningful part of a field. Alarmingly, the high variability
in the ingredients presents worrisome “hotspots” potential, where the
hotspots might be missed in sampling but even a single exposure could
have very serious impacts for a child who has the unfortunate luck to dive
into that hotspot. PAH’s may be more prevalent, and present dangerous
levels for installation period of the field, and for some unknown period of
time afterwards, and considered a “hotspot”, then the consistent release of
PAHs in the subsequent years could mean low dose, chronic exposures.
Both need to be examined.
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51. Lead, chromium, mercury and arsenic could be present in
hotspots, based on which tires were used, and how they were treated
prior to being placed in the field.

52. For example, when we asked about the source of lead in tire crumb
fields, an infill vendor explained to us that a) lead could be in any field as an
ingredient of the tires, of the treatment of tires, and b) once, they were
aware of a shipment of tires that was treated with an anticlumping material
that contained lead and the whole lot had lead, and c) that some lots had
flame retardants added as well. They would never really know, but “most
purchasers never ask”, according to the infill material vendor. If an MSDS
was required, an additional charge was to be imposed, since MSDS were
not available from the materials they acquired from China or other
countries. We have collected many more examples of the worrisome
unknown ingredients in our fields and can share with the study teams, if
requested. While this information is anecdotal, that is the point: we have
no idea what is in any field, for sure.

53. Another example, but this is not anecdotal: in a primary study field
exposures in CT, a researcher found that the children’s monitors showed
benzene. Since there is no safe level of exposure for benzene, and in fact,
tires are not expected to have benzene, the field was sampled more closely,
until that “hotspot” was located. The original source of that benzene was
not determined, but it was next to a busy parking lot where cars’ exhaust
may have been a source as they turned the corner, or possibly the tire
crumb material had been previously stored in an area with benzene in
surrounding environment, or perhaps it was picked up from contact on
roads. We will never know. That finding suggests that the carbon black in
the tires can adsorb additional toxins present near tires or tire crumb, and
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could release that material as the fields are pounded with running feet, or
possibly on a hot day. The proper characterization of this material needs to
account for adsorption characteristics of carbon black, and other
interactions

54. The point is, that it is impossible to locate hotspots for all toxins in
every field, and incorrect to extrapolate the risk for a whole field from
a single sample or even multiple samples, since every sample is
unique. So, while hotspots can easily be missed in a field, the
unfortunate child that dives into that particular part of a field has an
exposure that can actually be life threatening, but missed in its
entirety in the sampling based risk assessment.

55. In fact, since the tire crumb creates multi sized “dust” particles,
and off gases, it is impossible to prove that even a single field is safe
from inhalation or ingestion exposures from tire dust particulate, offgassing components, multiple toxins and combinations of toxins, and
heat.

56. Importance of the Heat Factor: Source of direct injury and
chemical catalyst

HOT HOT HOT HOT EXTREMELY HOT FIELDS
Grass playfields remain close to the temperature of ambient air, and are
often much cooler. Asphalt playgrounds used to have a use limit of 141F
and many schools remove children from playgrounds when temperatures
get hot. With tire crumb based turf fields, surface temperatures can soar on
even mild sunny days.
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Tire crumb fields “superheat” to levels that are routinely over 150F on a
sunny spring day, and in a recent study conducted on a sunny day Utah,
found to be close to boiling point, 190F, according to the Penn State Field
Turf Heat Study. The study found that tire crumb field surfaces are hotter
than ambient air, and increase in heat in a non-linear function with each
additional degree Kelvin of heat, hence the designation “superheating”. To
draw an example, on a Labor Day Weekend in DC area, with ambient temps
of 82F, the field surface temperature hit 164F by noon on several fields
used in a busy, tournament for about 1000 children, both boys and girls,
ages 8-15. Those levels are known to melt plastic cleats, require tubs of
water on the sidelines to cool down shoes, and create heat-related injury
including heat stroke, nausea, heat exhaustion, and dehydration in children
and all users. It is not unusual for children players to vomit, faint, and suffer
dehydration from hot conditions on the fields.

57. Marketing and sales for these fields tout their usability in all conditions
as a benefit (more practice and play hours), but in fact, the heat build up on
fields makes them very uncomfortable during many days and conditions. In
DC, there are over 100 days of sunshine each year, and most are during the
spring, summer and fall, making the fields uncomfortably hot and possibly
dangerously hot for a third of a year. A calculus should be made on the
percentage of safe days to play based on field yield risk, and heat.

58. Tire crumb fields do not have any protection from heat, and so they are
irrigated to be cooled down, but the effect is temporary.

59. To our knowledge, there has been no well known place for doctors nor
parents to report heat injury, though they are commonplace. (This author
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specifically remembers a hot, poor air quality day in August in 2014 in
Washington DC when during a single practice, 4 soccer players vomited,
another child was taken to the hospital after passing out, and another
sidelined himself against the coach’s wishes, due to extreme dizziness and
nausea.)

60. Reluctance to Report? Yet, it is curiously uncommon for school
teachers, coaches and parents to remove the children from the fields, due to
temperature. We cannot explain that in rational terms.

We have also noted another curious effect: as football, soccer and lacrosse
increase in popularity and competition in the US, competition for spots on
high performance teams is fierce. There is a perception from strong sales
and marketing of the fields, that the turf fields present a competitive edge
for a school, a club or even a teenager trying to get into college, and are
worth the high price paid. As psychologist Dr. Wendy Miller, explains, “ it is
a culture where high performance parents, players and schools might be
willing to overlook these injuries, thinking that to complain would
jeopardize their child’s access to a competitive team. This thinking could
easily lead to the silencing of reporting of injuries.”

Heat injury reporting needs to be included in the survey questionnaires,
and victims of heat injury and illnesses need to have a place to report, with
impunity.

61. HEAT MAKES THE CHEMICAL DYNAMICS ABOVE A FIELD VERY
COMPLEX

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In addition to the serious issue of direct injury from hot playfields to young
children, or anyone, the super hot fields present a very challenging
chemical situation.
Dr. David Brown, ShD, toxicologist, professor and former Deputy Director
of Public Health Practice Group at ATSDR/ CDC explains that, “the
unintended, and largely unstudied chemical consequences of what comes
off such an enormous quantity of high surface area material, in amounts
and sequence that is scientifically accurate is very difficult to predict and
model. Since the chemicals in the area above the field could change
instantaneously, the conditions are critically important (number of players,
temperature, time from last rainfall, etc.), as is the sampling methodology.
But no one has been able to come close to modeling the actual yield, we
only know the materials by characterization with samples, and that
variation in samples is so broad as to almost be meaningless, since it could
be easy to miss harmful exposures.”

62. Analyzing the field yield on a hot day is very complex, and challenging
to even trained toxicologists. The superheating of the fields makes gases
yield at faster rates as temperatures on the tire crumb surface increases.
So, as a day heats up, it is very likely that the yield increases directly with
temperature increase; a hot day creates more gases. Based on well
understood scientific laws, we presume that the gas yield from the field at
surface temperature of 50F (a cloudy day in January in DC) would be
considerably less than a field surface temperature of 158F measured last
week. If more gases are escaping the surface, then there are more
“opportunities” for particulate to adsorb onto the surface of the gases,
creating very dynamic series of compounds, none of which would be
recommended to inhale.. The changes in the chemical composition over the
fields as their temperatures rise is very difficult to test and model. These
changes happen in an instant… as a threshold is reached… and the
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exposures can increase sharply. It is a very sophisticated and difficult
challenge to model. But what is the most important is not only that the 24
gases that escape tire crumb (Norway Study) create dangerous mixtures
but those gas/particulate mixtures, (and air) create a vector for deep lung
exposures of all the materials in the tire crumb field. So, on poor air quality
days, when there are many children on the field and a lot of stirring up of
the material, the fields could present enormous risk.

63. We are concerned about the range of yield levels, but, we are most
concerned about the intermittent risk to children during those hot periods
(a hot, poor air quality summer day during children’s soccer camp week in
Washington DC, for example) when the fields are likely yielding more gas,
and therefore particulate has more “carriage” into lungs, respiration rates
are higher, skin is exposed, and perspiration is highest. All these are likely
factors in exposure. It is during those days when exposures are probably
highest, and high enough overwhelm a developing immune system.

64. Exposure Study Needs To Focus On Worst Case Conditions
We acknowledge that the level of yield from the fields might vary widely
with material variation, and will also vary with outdoor weather
(temperature, wind, humidity and sun) conditions. Taking averages from
fields across the country will be meaningless, and will only help the
industry to expand its message of “found no harm”. An analogy might be to
determine the health of a forest taking 4 samples from 40 locations, evenly
spaced, but the sampling might easily miss a blazing forest fire. That one
day might destroy living material exponentially, but it could easily be
missed. Dangerous exposures can be unpredictable in this material due to
the scope and scale, the toxic character, and the superheating
characteristic.

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65. A better approach is to carefully detect high yield days, and look
THAT DAY for exposures in a child’s body during those periods. Since
the exposures might attenuate, the work would have to be done
expeditiously. The harmful exposures may or may not be detectable a day
or a month later in a child. Monitor both genders, for patterns that might
lead to that awful air quality soccer camp in the city on a tire crumb field,
on days when vomiting and melting shoes are commonplace. A focus on
the impacts from the high end of those yields we believe will present
exposures that are clearly, and unequivocally harmful from both heat injury
perspective and toxicity exposure potential. We do not know for sure if the
carcinogenic exposures from low dose regular exposures or from high dose
“events” are more dangerous, but both need to be studied as separate
situations, not as an average.

66. We urge your team to focus the study resources on primary
measurements made in high use scenarios on hot days, and refrain
from the approach used in earlier studies that look at chemical
compositions during winter or rain conditions on limited number of fields.

67. The only reliable way to assess the risk to children from a particular
field, or groups of fields, is to look at their direct exposures, and
importantly look at bloodlevels of the known substances. Cooperation from
both high use athletes and those exposed to chronic levels of materials will
be important.

68. The Study Needs To Focus Also On Low Dose Exposure Risks
Trained immunotoxicologists look at the impacts of chronic low dose
exposures to metals, PAHs, VOCs and many other materials in tire
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crumb. Their input is crucial to understanding risk of exposure in a
developing child.

69. Characterization Mistakes
Studies look convincing, but miss the forest for the trees.
Tire recycling and tire crumb industry reports are quick to point out that
when they find harmful materials in their samples, they are under the
known safety limits. There are two interesting fallacies in that reasoning.

First, since the samples in several studies are few and not uniform, they fail
to acknowledge the statistical significance of finding known regulated toxic
material in 2 million pounds of powdered tires… if one finds the needle, is it
luck, or is it because needles are more prevalent than expected?

Proof of presence is meaningful! For example, in the NY Study, PAHs were
found, as were metals, benzothiazoles, and many substances. Their
presence indicates a risk.

In a child’s product, since many materials are not known how they affect
children, just knowing they are there is enough to use a precautionary
principle and prevent the exposure. Arguing that the materials appear
under a limit (especially if that quantity is an average of multiple samples),
or there is no established limit (because it has not been studied), are not as
meaningful as the proof of their presence.

Second, though the conclusions of the industry reports may be of no harm
found/safety, a close look at the data itself on PAHs, lead, cobalt,
chromium, etc. is useful, since a) it proves presence, and b) at levels that
suggest risk for chronic exposure. Chronic exposure risk is the subject of
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a great deal of new cancer research, and we care about all the materials,
including those which are potentially toxic.

70. ARGUMENT FOR MORATORIUM BASED ON KNOWN
CHARACTERIZATION FOR TIRE CRUMB
Because of the:
a. known loss of 1-30 tons of material from the fields during the 8-10
year “life of the field” into air and water
b. ingredients list: over 50% of its components are known carcinogens
and pathogens, [cite Yale Study]
c. massive scope and scale of this product, (the amount of material and
surface area of these fields is enormous; scale/millions of pounds in
each installation),
d. inability to control the levels of toxic exposure to children, or even
properly characterize them due to immense variation and chemical
complexity of what happens on a hot day over a field, and around
children. We cannot suggest mitigation strategies for the danger,
because the material is inconsistent,
e. Even if we did know for sure what was in each field, and suggest
mitigation techniques and protections…. All the tire company has to
do is change their recipe, or many recipes, as they do continually,
and the study is worthless. Children are still being exposed to
whatever is in the tire, the lot or that particular field..
71. Moving Target Analogy
Even if the study were completely successful, and the tire crumb material
categorized properly, the trouble is, tire manufacturers could change the
“recipe” for tires… and in fact they do this regularly… and the study results
will be useless, or at best, diminish in usefulness.
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Any attempt to study tire crumb safety on turf fields is analogous to trying
to hit a moving target. Tire crumb is a waste product. Tires are not
designed or intended to be used as infill for turf fields.
Ingestion, inhalation and absorption of fine particulate by children is not a
consideration of tire manufacturers as they choose chemicals and
compounds for their tires. Nor are they bound to maintain any safety
considerations for such use by children.
So any study of present day tire crumb is a futile endeavor, because such
study tells us nothing about a field that gets installed immediately after the
study. Tire manufacturers often change the chemical composition of tires
and will likely do so again.
Even if a field passed safely concerns in a present day study, a new field
could easily fail a hypothetical study conducted the day after the present
study. So unless every field was tested using the exact same methodology
after every installation, there is absolutely no way to assure the user that
their new field is safe. Those new fields could easily have an entirely
different chemical composition simply because tire manufacturers changed
their tire ingredients.
So the present Federal Study is only a backwards looking study, not
forward looking. Any conclusion must be transparent and clear on that
issue - upfront and center. Otherwise the public is being misled into a false
sense of security.
72. Sampling: Not Appropriate For Tire Crumb
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The core pediatric toxicology problem in industry based safety studies, is
that there appears to be an assumption that tire crumb is a uniform
material, and behaves uniformly. It does not. There also appears to be an
assumption that sampling will be an accurate method for studying tire
crumb risk to children, and it is not. Sampling will not be accurate to
assess a non-uniform, heterogeneous material with multiple known
toxic ingredients, high direct contact (dermal, hand to mouth,
breathing zone) for pediatric use. Sampling cannot produce a single
sample that is representative of the whole field, or even a part of the
field, other than the sample itself.

73. Methodology needs to study PERFECT STORM exposure
conditions, and be able to calculate exposures during those relatively
dangerous days.

Nor can sampling in the way it is proposed (samples from 40 fields across
the US), illustrate impacts from a perfect storm of exposure conditions on a
particular field, say, during an intense soccer camp in in summer in
Washington, DC with high ambient and field surface temperatures (ie
160F), bad air quality, no wind, when working athletes are breathing in
particulate with high VOC, PAH, benzothiazoles, and carbon black… and
many more compounds, on a particularly high yield day. Averages cannot
be relied upon in sampling for this type of product, since they will further
obscure the risk from exposures to hot spots of high risk material that are
on fields. Averaging the results from a national distribution in various
weather conditions simply obscures the acute risks further; it is useless for
risk analysis. In layman’s terms, it is like studying a forest using “x”
number samples, but missing the forest fire that is blazing away at a nearby
area of the park. For a child, it means that she plays on a field that was
called “SAFE TO PLAY”, after sampling, but in fact she might easily have
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been covered with multiple materials known to cause cancer, and in fact,
that might be a regular event. The uncertainty of exposure frequency
makes the risk higher, not less.
74. The core of the methodology used in the 50 studies asserted by
the tire recycling industry were based on simple characterization of a
single sample, but not on realistic, combined, nor worst case (the most
important) use scenarios.
75. Multiple carcinogen and multiple pathogen combined effects need
to be measured. Single material measurements could be only a fraction of
the exposures, since the material exposures are likely to be from
combinations of materials.
76. BIOMONITORING FRONT AND CENTER
Because sampling presents inconclusive results, a methodology that relies
on biomonitoring will be more meaningful. We suggest that more
sophisticated approach be considered. Personal sampling monitors
attached to children, dermal, urine, breathing analyses, and particularly,
blood and tissue samples from frequent users, players on “Perfect Storm
Days” and those expected to have chronic low dose exposures. We
understand that biomonitoring raises more issues, but absent a good
model, empirical data is the most reliable way to accumulate actual
evidence of exposures and to be able to establish a reliable causal link to
the cancers and diseases we predict from exposures.
77. IMMUNOTOXICOLOGY SUPPORT: RECRUIT THE BEST PEDIATRIC
IMMUNOTOXICOLOGISTS AND RESEARCHERS. Some researchers and
epidemiological professionals are already on the trail of better ways to
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identify actual exposures, and can create biomarker groups as indicators of
presence of illness or exposures. These researchers have background in
immunological toxicology, and can track subtle changes in an immune
system that might be precursors to serious disease, like cancer, kidney
disease, brain changes, and lung disease. It is possible to create biomarker
group to prove tire crumb exposures in users and we believe that the
preliminary proof of concept step could be accomplished in less than 6
months with cooperative athletes, and study volunteers, and modest
budget. While we will not list them here, for protection of their privacy and
frankly, for fear of industry retribution, we will nonetheless let you know
that we have found multiple professionals who are capable and willing to
work on this task, provided a protective forum and IRB standards are in
place.
78. Immunotoxicology support: look carefully at the ages those
immune system markers in all children who are using these fields,
understanding that some metabolic types, and ages may be more
vulnerable than others. In fact, there are early indications that certain
age groups, such as prepubescent females (age 8-11), may be more
vulnerable to exposures to benzothiazoles, plastics, phthalates, and
endocrine disruptors in general, and therefore might be at higher risk to
contract cancer or disease from low dose particulate exposures from
tirecrumb, and the plastic “grass” carpet particulate. We need to establish
the datum from players to study this. We still do not know, but some
indications exist. For that reason, we respectfully request that the study
team include toxicologists and epidemiologists that are trained to keep
these concepts front and center.
79. LOW DOSE EXPOSURE CONCEPTS and CONCERNS

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Based on what we know now about low dose exposures to VOCs, PAHs,
benzothaizoles, styrenes, carbon black, plastics, plasticizers, and metals,
even at low, sub-acute exposures, the fields could be very dangerous. That
possibility was not considered in the CPSC study, EPA study, nor in
mulitiple industry studies. These need to be assessed:


Chronic exposure to metals, plastics and plasticizers



Chronic exposure to carbon black mimics air pollution exposures



Immune system reactions



Endocrine disruption exposures from plasticizers and phthalates,



Exposures from multiple low doses and chronic exposures

80. The study should calculate yield of material that leaves the fields,
and how it leaves the fields. How much in the air , water pathways,
and with users (in shoes, cars, etc.) Interviews with schools and
vendors need to establish the replacement quantities of these fields,
and how often new material is put into place, since it would affect
exposures, and give an indication of gross yields. We estimate that the
fields lose from 1-30 tons (estimated) of material, so exposures and
impacts need to be measured in adjacent buildings, soils, and
stormwater systems. With 12,000 existing facilities, this may need to
be the subject of additional studies conducted to also assess if the
fields shall be regulated as point source contamination under Clean
Water Act and Clean Air Act. It is a very important metric, and a
perfect opportunity to include it, with little incremental cost, in your
study.

81. INTEGRITY STANDARDS. To track the history of the emergence of this
product is to track effective lobbying for regulation changes that favored
the tire industry, and the tire recycling industry. This industry took
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advantage of an enormous quantity of recalled and used tire stockpiles, and
heavily sold and marketed the materials to schools, and sports centers
where millions of children play. Central to the steps that catapulted this
industry forward was the removal of the designation of artificial turf fields
as children’s products, based on the rationale that adults played on them,
too. Yet the fields continue to be sold to elementary schools and to sports
centers brimming with elementary, middle and high school players. The
sales oriented industry was willing to submit children, schools and
communities to the materials in tires in enormous amounts, and call them
safe. As this claim is deeply questioned now, we also urge you to NOT
allow the sampling or data collection to be conducted by an interested
party, including schools, sports centers, athletic group personnel or
administrators, field installers or laboratories or consultants hired by
those groups, and establish peer reviewed standards for testing.
82. Any group or individual who does participate in the study,
including regulatory staff, needs to sign an affidavit certifying that she
or he, and her/his group has not received compensation or benefits in
any form, including but not limited to sales commissions, direct
payment, compensation, bonuses, grass to artificial turf grant, field
financing, water savings rebates (State of California and possibly
others), or physical benefits including but not limited to uniforms,
facility enhancements (restrooms, concession stands, parking lots,
storage facilities, etc.), stadium components, or field equipment of
any sort, from the field installers or tire crumb field industry and its
assigns, and has no financial conflict of interest. The document
should be filed with an appropriate agency and made public.
83. We ask for full transparency on all parts of the study process for
parents, interested parties, and schools.
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OUR REQUESTS TO ASTDR/CDC/CPSC/EPA
Request
1. Regulate tire crumb and rubber mulch as children’s product

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Background
PEER filed formal request;
12,000 fields x 30,000 tires is the
amount of existing material in
children’s use; see table A for
details on volumes and surface area
sizes, children/schools. Known

carcinogenic material and known
contact.
2. Remove “safe to play, safe to install” or any other references that imply safety from all
EPA, CPSC and CDC websites and public information sources
3. Place all PEER artificial turf filings in Federal Record

PEER Formal Request; agencies
must remove all endorsements of
safety.
http://www.peer.org/campaigns/p
ublic-health/artificial-turf/newsreleases.html

4. Issue a directive to public health agencies to disseminate warnings regarding unknown
risks from lead exposure from AT fields, as well as exposures to carbon black, known
carcinogens, PAH, VOCs into air and water pathways; direct hospital systems and medical
systems to screen for tire crumb field use, and report results
5. Use only independent lab or consultants unassociated with tirecrumb industry, adhering
to high ethics guidelines; transparent process for review; affidavit of no conflict of interest
6. Commission a primary study, conducted by independent, peer reviewed group such as
CDC to examine existing cancers AND illness in tire crumb field users and maintenance
workers of tire crumb fields
7. Mandate Cal Recycle Study corrections to methodology; mandate methodology peer
review; and mandate to impose Prop 65 rule based on OEHHA’s own findings on
carcinogenic exposure
8. Convene a conference for presentation of risks and concerns from parent groups, cancer
survivors to Federal Research Team

For parents, schools, athletic groups
and communities; conduct parent
outreach webinars

Needs participation from
CDC/CPSC/EPA staff so parents
and public can have direct contact

9. Convene series of webinars and open comment opportunities
10. Allow public health and environmental advocacy groups in Federal Research Team
with complete transparency
11. Establish a collection point for recording experience of victims and those who may
have suffered injury from use of the fields, including heat injury, concussion or head
trauma, cognitive disorder, illness, and cancer for study and documentation; victim
hotline; for both child and adult contact with fields
12. Funding to identify potential biomarkers of exposure; conclusive marker study in users
13. Conduct blood monitoring and studies on existing cancer survivors.
14. Conduct cancer cluster study on soccer player cluster, and identify additional clusters
such as maintenance workers and installers
15. Provide full transparency with all interested parties
16. Conduct full epidemiological study of tire crumb on playfields existing and predictive
17. Study forms and questionnaires should include data collection on what is released
from fields into air, adjacent areas, water pathways, and quantified. Replacement
quantities for tire crumb fields should be quantified and examined as a metric that
indicates yield.
18. Based on release/yield figures, and other inputs, tire crumb fields should be evaluated
for compliance with Clean Water Act and Clean Air Act, and regulated accordingly.
19. We request that OEHHA study methodology be peer reviewed by your agencies
before it begins, taking into account the comments received in this proceeding.
20. OEHHA Study Process and Methodology Concerns: How will those be considered?
21. Consider explicit protection from retribution steps be put in place to protect
researchers, players, and concerned parents from retribution

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Page 1 of 2

PUBLIC SUBMISSION

As of: 5/3/16 6:45 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8per-wqbb
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0081
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: Laura Johnson
Address: 98020
Email: [email protected]

General Comment
Health professionals, including experts on children's environmental exposures from Mt. Sinai
Hospital, are voicing extreme concern over exposure, particularly in children, to the known
carcinogens, endocrine distributors, neuro-toxins, and toxic heavy metals, contained within the
finely ground tire mixture. This concern is partly fueled by the growing number of cancer cases
in children and young adults who were frequently exposed to the recycled rubber surfaces.
Previously, the EPA endorsed the use of crumb rubber as a viable way to dispose of millions of
used tires, as well as a way to reduce injury, but some of its own scientists have pointed to
research suggesting potential hazards from exposure to crumb rubber. This research includes
the 2012 study: Hazardous Organic Chemicals in Rubber Recycled Tire Playgrounds and
Pavers- which concluded that the "presence of a high number of harmful compounds, frequently
at high or extremely high levels, in these recycled rubber materials. Therefore. They should be
carefully controlled and their final use should be restricted or even prohibited in some cases",
and a very recent 2015 study: Release of Polycyclic Aromatic Hydrocarbons (PAH's) and
Heavy Metals from Rubber Crumb in Synthetic Fields- which concluded that "the recent study
demonstrate that PAH's are continuously released from rubber through evaporation. Athletes
frequenting grounds with synthetic turf are therefore exposed to chronic toxicity from PAH's."
I am among a growing group of parents who have opted to take the precautionary measure of

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keeping our children off of these fields all together, and advocate for safer alternatives, while
waiting for an answer to the question so many are asking "Are these fields safe?" Before I knew
about the toxicity and carcinogenic chemicals contained in crumb rubber, my children did play
on the fields. I remember that even on mildly warm days the smell of tires was significant, and
on days over 80 degrees the combination of heat and smell was enough to drive many parents
from the field, to sit on a nearby grass median. I remember watching babies crawling on the
sidelines squishing the grass blades with their hands some attempting to eat the crumbs, many
with bottles in hand. I saw preschoolers sitting and making piles of crumb rubber with one hand
and a snack in the other hand. These children were just inches above the turf surface. We have
created a situation where our youngest children are exposed to a toxic substance from birth and
continuing through crucial developmental years. This type of use and exposure has, admittedly,
not been adequately studied, and in essence we are carrying out a large scale experiment on our
nation's children! Parents like me, have assumed that the fields are safe. We would never
imagine that a substance, which can be inhaled and ingested, and is clearly marketed for
children to play on, was not thoroughly tested for safety.
We need real answers- from epidemiological studies- and in the meantime the public should be
provided with information on protective measures to take on current fields. Additionally, there
should be a moratorium in place on construction of new crumb rubber fields. The potential is
great and the risk is simply not acceptable.

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PUBLIC SUBMISSION

As of: 5/3/16 6:46 PM
Received: May 02, 2016
Status: Posted
Posted: May 03, 2016
Tracking No. 1k0-8per-6zzd
Comments Due: May 02, 2016
Submission Type: Web

Docket: ATSDR-2016-0002
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ
Comment On: ATSDR-2016-0002-0003
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill ATSDR-2016-0002
Document: ATSDR-2016-0002-0083
Collections Related to Synthetic Turf Fields with Crumb Rubber Infill 0923-16PJ Comment on
FR Doc # 2016-03305

Submitter Information
Name: SHPFC Fairfax Chapter
Organization: Safe Healthy Playing Fields - Fairfax County Chapter

General Comment
These Comments were also submitted by the Safe and Healthy Playing Fields Coalition. The
Fairfax Chapter is submitting them as well in order to document our support for the comments.
INTRODUCTION
On behalf of the millions of children, parents and athletes who play field sports in the US at
schools, parks, athletic facilities and playgrounds, thank you for agreeing to study the potential
harm caused by playing on or being near athletic fields with surfaces made waste tires. There
are more than 12,000 of these playfields in place (15,000 according to the website of a large
company that installs them), and they are being installed at a rate we estimate to be about 3000
a year. By our calculations, 12,000 fields currently present 2,380,000 tons or 4,760,000,000
pounds of loose, unencapsulated tire crumb on their field surface. (See our Table of Runoff and
Material Volumes attached.) Tens of thousands of students and young athletes play on those
fields, many more thousands have direct or indirect contact with the material. It is a public
health issue of substantial importance.
The following lists our comments on the proposed study. We argue that the fields present
known carcinogenic, pathogenic, and mutagenic material in a high surface area, pulverized
form that is more toxic than whole tires, and should never have been allowed near children, or
adults, because of risk of ingestion and inhalation exposure to all the ingredients in tires. On

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warm, sunny days the surface temperature routinely reaches over 150F, which presents direct,
well-known heat injury risks to children. The heat increases off-gassing of the tire components,
increasing the likelihood of pulmonary exposures, and creates a complex dynamic in the
children's exposure zone immediately above a field that has not been correctly modeled or
studied yet. The material lacks uniformity, or any regulatory or exposure controls. We assert
that it is impossible to assure even a single tire crumb field is free of inhalation and ingestion
risk of dangerous particulate and gases inherent in tires, tire crumb, and add-in composites; and
that dangerous and unwanted exposures from lead, benzothiazoles, 12 carcinogens, phthalates,
carbon black and other materials, can happen with every use. The data gaps are enormous, and
we hope CDC/CPSC/EPA will recognize there is no way the tire crumb industry can protect
any player, on any field, from the potential for dangerous exposures with normal use. We argue
that not enough scrutiny was placed on this material.
NOTE: The Safe and Healthy Playing Fields Coalition is a grass roots group of scientists,
public health professionals, toxicologists, neurobiologist, educators, plastics engineers, medical
doctors, waste management and remediation professionals, coaches, researchers, and parents
who donate their own time and skills towards helping communities and individuals assess risks
to their communities from tire crumb field use. We do not have a lobbying firm, law firm, hired
laboratory, consultant, or revenue-generating source (such as tire crumb), and rely solely on the
skill of researchers who donate time to compile our comments. That said, we have found
compelling data that refutes almost all claims of safety, and when we asked for additional time
to compile the information, we were given two weeks, but denied additional time. Hence, we
are working at a disadvantage, and hope that during this study year, we will have time and
opportunity to substantiate our concerns, and share our research with the study officials. One of
our comments below explains our requests for a conference or virtual meeting that allows more
disclosure and discussion.
Our comments are listed in numerically and organized into: 1. General Comments, 2.
Characterization and methodology comments; 3.Summary List of requests, and a number of
supporting documents are also submitted as part of our comments.

Attachments
SHPFC FINAL ASTDR 2016-0002

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Comments on ASTDR 2016-0002-0003
Federal Research Action Plan on
Recycled Tire Crumbs Used on Playing Fields and Playgrounds
Submitted to Federal Register May 2, 2016

SAFE AND HEALTHY PLAYING FIELDS COALITION
www.safehealthyplayingfields.org
A grass roots coalition working for healthier alternatives for children and
communities

INTRODUCTION
On behalf of the millions of children, parents and athletes who play field
sports in the US at schools, parks, athletic facilities and playgrounds, thank
you for agreeing to study the potential harm caused by playing on or being
near athletic fields with surfaces made waste tires. There are more than
12,000 of these playfields in place (15,000 according to the website of a
large company that installs them), and they are being installed at a rate we
estimate to be about 3000 a year. By our calculations, 12,000 fields
currently present 2,380,000 tons or 4,760,000,000 pounds of loose,
unencapsulated tire crumb on their field surface. (See our Table of Runoff
and Material Volumes attached.) Tens of thousands of students and young
athletes play on those fields, many more thousands have direct or indirect
contact with the material. It is a public health issue of substantial
importance.

The following lists our comments on the proposed study. We argue that the
fields present known carcinogenic, pathogenic, and mutagenic material in a
high surface area, pulverized form that is more toxic than whole tires, and
should never have been allowed near children, or adults, because of risk of
SHPFC Comments ASTDR-2016-0002-0003 1

ingestion and inhalation exposure to all the ingredients in tires. On warm,
sunny days the surface temperature routinely reaches over 150F, which
presents direct, well-known heat injury risks to children. The heat
increases off-gassing of the tire components, increasing the likelihood of
pulmonary exposures, and creates a complex dynamic in the children’s
exposure zone immediately above a field that has not been correctly
modeled or studied yet. The material lacks uniformity, or any regulatory or
exposure controls. We assert that it is impossible to assure even a single
tire crumb field is free of inhalation and ingestion risk of dangerous
particulate and gases inherent in tires, tire crumb, and add-in composites;
and that dangerous and unwanted exposures from lead, benzothiazoles, 12
carcinogens, phthalates, carbon black and other materials, can happen
with every use. The data gaps are enormous, and we hope CDC/CPSC/EPA
will recognize there is no way the tire crumb industry can protect any
player, on any field, from the potential for dangerous exposures with
normal use. We argue that not enough scrutiny was placed on this
material.

NOTE: The Safe and Healthy Playing Fields Coalition is a grass roots group
of scientists, public health professionals, toxicologists, neurobiologist,
educators, plastics engineers, medical doctors, waste management and
remediation professionals, coaches, researchers, and parents who donate
their own time and skills towards helping communities and individuals
assess risks to their communities from tire crumb field use. We do not
have a lobbying firm, law firm, hired laboratory, consultant, or revenuegenerating source (such as tire crumb), and rely solely on the skill of
researchers who donate time to compile our comments. That said, we have
found compelling data that refutes almost all claims of safety, and when we
asked for additional time to compile the information, we were given two
weeks, but denied additional time. Hence, we are working at a
2 SHPFC COMMENTS ASTDR-2016-0002-0003

disadvantage, and hope that during this study year, we will have time and
opportunity to substantiate our concerns, and share our research with the
study officials. One of our comments below explains our requests for a
conference or virtual meeting that allows more disclosure and discussion.

Our comments are listed in numerically and organized into: 1. General
Comments, 2. Characterization and methodology comments; 3.Summary
List of requests, and a number of supporting documents are also submitted
as part of our comments.

PART I: GENERAL COMMENTS:
1. CPSC/CDC/EPA should use their existing authority to immediately
reclassify tire crumb athletic fields as a children’s product, since
thousands of fields have been installed in schools that serve hundreds
of thousands of children.

2. We have grave concerns about their safety to human health and the
environment, since known carcinogenic and pathogenic components in
the field material yield into both air and water pathways, and provide
ample opportunity for both chronic low dose exposures with every
use of the field to lead, chromium, mercury, zinc, PAH, VOC, carbon
black, styrenes, benzothiazoles, and plastics; and more intermittent,
but dangerous high dose exposures from “HOTSPOTS” of component
material. (See comments on Characterization). Each of the fields has
material that is known to cause cancer, illnesses, and injury in humans; and
leachate from runoff causes several negative impacts on the aquatic
ecosystems. We believe that the potential for human illness (including
several cancers) from both low dose and high dose exposures to the
ingredients in tires is staggering. Basic logic favors our position. Based on
SHPFC Comments ASTDR-2016-0002-0003 3

the known potential for exposures to children, and the finding of a group of
200 soccer players with cancer (the group represents the reach of a single
charismatic soccer coach), an immediate moratorium on new construction
of the fields should be put in place with the existing authority of
CDC/CPSC/EPA, until the tire crumb fields can be shown to be safe to
inhale and ingest.

3. The tire crumb recycling industry, which appears “green” in its
efforts to sell millions of used tires in “repurposed” shredded form, in
fact enables a direct transfer of the contamination burden of waste
tires from landfills/collection sites (in the US and abroad) to the play
surfaces of 12,000 schools and sports centers, where tens of
thousands of children and adults have direct contact with the toxins in
tire crumb materials on the field surface, and these exposures could
happen with every single contact.

4. For the most part, the schools and sports centers do not have
resources to conduct toxicity due diligence; meaning, they do not have
access to a toxicologist who reads the industry studies with their health as
the only priority. Purchasers rely on the tire crumb recycling industry
statements, industry studies, and industry funded websites that claim
toxicology assessment and public health guidance. The sales material can
be striking, and the studies appear convincing on the surface, but our study
groups have found significantly misleading information about the safety
and actual risk of harm from the tire crumb fields to all users, particularly
children. They are likely unaware that claims that the fields are “SAFE TO
INSTALL; SAFE TO PLAY” have been repealed.

5. PEER Filings. Public Employees for Environmental Responsibility have
filed a number of complaints and documents that argue for a repeal of
4 SHPFC COMMENTS ASTDR-2016-0002-0003

endorsements of tire crumb safety from EPA/CPSC, and those statements
were in fact repealed; but most schools and potential purchasers are
unaware of the removal of endorsements and claims of safety. The PEER
filings are an excellent source for telling the toxicity story and regulatory
story of this product. We respectfully request that the entire file of
complaints and responses to the complaints, and other supporting material
be entered into the record for ASTDR 2016-0002-0003.

The full list of documents for the ASTDR 2016-002-0003 collection
and record can be found here:
http://www.peer.org/campaigns/public-health/artificial-turf/newsreleases.html. Please include all in that list, and all supporting
materials.

6. Formal legal requests have been made to classify the tire crumb fields as
a children’s product since children use them, and sales and marketing
material are very clear about tire crumb fields are for children.
CDC/CPSC/EPA should use their existing authority to explicitly label
the fields as children’s products. (Please refer to PEER filings for details
and supporting arguments: http://www.peer.org/campaigns/publichealth/artificial-turf/news-releases.html)

7. CLASSIC CANCER CLUSTER APPEARANCE: SOCCER PLAYERS
Parents and schools may have trusted the “Safe to Play” statements, but
the parents of the 200 young women and men, who played intense
soccer and were stricken with cancer do not trust those claims
anymore.

SHPFC Comments ASTDR-2016-0002-0003 5

The case of over 200 young soccer players who used tire crumb fields and
contracted cancer, strongly indicates a classic cancer cluster, though the
cases have not undergone the formal validation process, not yet. That is
because a process for the collection of this information, does not exist yet
for either cancer victims, or for other illnesses, head injuries, and heat
injuries/illness from the fields.

8. We respectfully request that an official study of the soccer player
cancer cluster be initiated by CDC immediately.

Through our activist network, we learned about these cases, which were
reported to the NBC news link, or directly to a single, trusted concerned
soccer coach. EHHI reported as follows:
______________________________________
“New Cancer Numbers Among Soccer Players on Synthetic Turf,
April 2016
It is important to remember that the only people counted in the numbers
below are those who have known to call Amy Griffin. There is still no
government agency tracking the cancers among the athletes who have
played on synthetic turf. We know the actual numbers of athletes who have
played on synthetic turf and contracted cancer have to be much greater
than those who have known to report their illness to Amy Griffin.
In January of 2016, there were 159 cancers reported among soccer players;
now (April 2016) there are 166. Ninety-seven of those in January
were goalkeepers; now there are 102. Sixty-one percent of the soccer
players with cancer are goalkeepers. As of this writing, 220 athletes of
various sports who have played on synthetic turf have cancer; 166 soccer
players who have played on synthetic turf also have cancer.
6 SHPFC COMMENTS ASTDR-2016-0002-0003

166 Soccer Players who have played on synthetic turf and have cancer


102 are goalkeepers (61% are goalkeepers)



64 soccer players with lymphomas, 39 are goalkeepers (61%––over
half are goalkeepers)



10 soccer players with Non-Hodgkin lymphoma, 7 are
goalkeepers (70%––over half)



54 soccer players with Hodgkin lymphoma, 32 are
goalkeepers (60%––over half)



41 total leukemias, 24 are goalkeepers (59%––over half)



16 total sarcomas, 7 are goalkeepers (44%)



12 thyroid, 9 are goalkeepers (75%––over half)



11 brain––5 are goalkeepers (45%)



9 testicular––6 are goalkeepers (67%––over half)



4 lung––3 are goalkeepers (almost all are goalkeepers)

Remaining are OTHER rare cancers.”
Source: Various; Victim parent volunteers, EHHI primary collection;
4/2016 (ongoing) _____________________________________________________________

All the victims were frequent users of turf fields, spending multiple hours a
week in close contact with the material in the fields. All were in their midtwenties or younger.

9. The self-reporting to a trusted coach, is also an indication that the
actual illness rates are not yet being properly assessed or managed by
any hospital, medical system, or group; there is no “home” for this
information, yet. The 200+ cancer victim count is likely the reach of a
single coach with the help of a link in broadcast media, and a fraction of the
actual count of victims of cancer or other serious illnesses. Better
SHPFC Comments ASTDR-2016-0002-0003 7

investigation and creating a “safe” place to report serious and intermittent
illness will uncover many more victims, and provide needed perspective on
the accuracy of risk assessment for this product.

10. The CDC and appropriate agencies should issue a directive asking
for adequate screening for injury and disease. That US hospital and
medical systems are not yet set up to collect this data is a contributing
factor; and concurrently, screening for synthetic field use should be part of
a responsible screening protocol. To our utter dismay, we learned from
pediatric oncologists in our group that at least some oncologist are
prohibited from screening victims/patients for tire crumb field use; the
screening must be part of the approved protocol, and tire crumb product is
not yet included..

11. In fact, the number of all injuries from tire crumb fields should be
collected and analyzed to include, but not be limited to: head injury
and concussion; joint injuries (multiple); heat injury; blood cancer;
lymphomas; testicular cancer; pulmonary illness; neurological
impairment; kidney disease; diabetes; brain disease and cancers.
These findings need to be documented, and the children who suffer
from them should be screened for tire crumb field use and proximity.
No doctor or oncologist should be prevented from asking questions,
screening for, or questioning the safety of this product or contact with this
product. We believe there are many more heat related illnesses, head
injuries, and endocrine system disruptions directly resulting from exposure
to the fields than what is being reported.

12. REQUEST MORE INVESTIGATION INTO EXISTING AND POTENTIAL
CANCER CLUSTER: We ask that the multiagency group takes steps to
expedite the process of collecting epidemiological data and verification of
8 SHPFC COMMENTS ASTDR-2016-0002-0003

the current soccer player cluster, and other potential clusters, to include
field maintenance workers who rake the fields, field installers who pour the
millions of pounds of material onto field surfaces, school custodians, high
contact users of any kind, and school children in buildings adjacent to the
fields. Residences near the fields should be considered in the scope of the
study or subsequent studies. In our own informal assessment, and
using SEER database and known levels of cancer victims, we found the
potential for 7-11 cancer clusters. We respectfully ask the CDC experts
to look into this possibility and take the necessary steps to prevent
additional injury and cancers.

13. NEED FOR EXPLICIT PROTECTION FROM RETRIBUTION: Sadly, the
families, coaches, and school leaders who have reported illnesses do so
with concern for retribution from the tire crumb industry, school
boards, university administrations, and even sports league
administrators, and may need explicit protection and remedy against
retribution. Researchers who study the potential for harm tell us that they
do not have protection from retribution from tire crumb field industry
proponents. Even in our own group, public health and medical
professionals must make statements of concern anonymously to protect
themselves from retribution––professionally and personally from industry
proponents. Adequate protections need to be established to protect the
professionals and parents who speak out.

14. PROTECTION FOR CHILDREN IS NOT A COST-BENEFIT ANALYSIS.
Children have a unique vulnerability to toxic exposures––both intermittent
high exposures––and to low dose exposures, and if we are aware of a
carcinogenic presence, then we are responsible for using a precautionary
principle, and removing that exposure risk. With due respect, this is not a
cost-benefit analysis that will show a percentage of children will get sick
SHPFC Comments ASTDR-2016-0002-0003 9

(cost) vs. tournaments played or jobs created (benefit). It is a decision
made by a civil society that upholds protection for children’s health above
all other industry priorities, and a recognition that tens of thousands of
children, if not hundreds of thousands, are already being exposed to
material with known carcinogenic, and harmful materials on school turf
fields.

15. The CDC/CPSC/EPA should recognize that the fields serve children,
acknowledge that there are zero safety controls on the material and the
potential exposures, and immediately acknowledge tire crumb fields as
children’s products, and use your existing authority to regulate them as
children’s products. Therefore, we emphatically REQUEST THAT THE
CPSC/EPA/CDC USE EXISTING AUTHORITY TO IMMEDIATELY
CLASSIFY ARTIFICIAL TURF AS A CHILDREN’S PRODUCT, SINCE
THOUSANDS OF CHILDREN ALREADY USE THE FIELDS, IN THOUSANDS
OF SCHOOLS.

Since children and adults are already being exposed on tire crumb fields to
the materials in tires, we ask for an immediate moratorium on further
construction of tire crumb based or recycled rubber based artificial
turf fields until adequate assurances that tire crumb particulate, offgassing, and combinations are safe for children to inhale and safe for
children to ingest.

Your three agencies do not need to conduct a study to know with
absolute certainty that tires were not designed to be inhaled by
children, and we should protect children, at any length, from chronic
or lose dose carcinogenic exposures.

1 SHPFC COMMENTS ASTDR-2016-0002-0003
0

Even if we cannot model or know (or will we ever know) the exposures to
each child, each day (and we will never know), we do know with certainty
that:
1. Carcinogens are in tires.
2. Shredded, pulverized tire crumb contains everything in tires, and
more ingredients, including: carbon black, phthalates, VOCs, PAHs,
benzothiazoles, lead, chromium, zinc, nanoparticle additives,
proprietary additives, 12 known carcinogens, 90 materials known to
be harmful to human and environmental health, (EHHI)
3. The material can be inhaled when playing and ingested with contact,
or intermittent adjacent contact.
4. Every single direct or indirect use has the potential for exposure to
hotspots and low dose chronic exposures to multiple scenarios of
these materials.
5. The exposures could impact children, school buildings, and
surrounding areas; contamination travels to cars, homes, and even
children’s bedrooms.
6. It is both within the authority and the responsibility of your three
agencies to take immediate action to protect the public, especially
children, from known carcinogenic, pathogenic exposures.
.
Only a complete moratorium on their use will protect the millions of
children, athletes and bystanders from inhalation and ingestion of the
materials that yield from tire crumb synthetic turf fields.

16. It is also evident that tire crumb will never be safe unless ALL tire
ingredients, all “recipes”, the manufacturing of tires, and then preparation
of materials for fields are controlled from a toxicity perspective. This level
of voluntary cooperation from the tire manufacturing industry will, of
course, never happen.
SHPFC Comments ASTDR-2016-0002-0003 1
1

17. ONLY UNIFORM MATERIAL SAFE TO INHALE AND INGEST IS
APPROPRIATE FOR SCHOOL FIELDS ; UNTIL THEN, A MORATORIUM.
When the play surface material is uniform, consistent, and controlled, when
it is tested by an adequate study with pediatric toxicology assessments to
be safe for ingestion and inhalation, and results are peer reviewed
following IRB standards, then we may consider a synthetic turf field might
be safe. Until then, tire crumb should be rejected from any casual or
unnecessary contact with children or adults.

18. RECONSIDERATION: A reconsideration of the moratorium could occur
when the industry can demonstrate a uniform, non-carcinogenic, noninhalable, non-ingestible alternative that does not present PAH, VOCs,
phthalates, lead, chromium, mercury, 1,3-benzothiazoles, butadiene,
styrenes, carbon black (in particulate, gaseous form, or any form to
children); and the product undergoes strict, peer-reviewed study by
independent qualified toxicologists who have a mandate to protect
children’s health and the health of the environment above the interests of
industry. The hypothetical product should be subject to regular reviews
and quality control determinations to ensure safety over the life of the
synthetic field. Safety Data Sheets should be provided and accessible for
every user. If waste tires are used, the controls requested above will never
be possible, since the tire material, by definition, is a composite of many
toxins in unknown quantities and with unknown impacts.

PART TWO: CHARACTERIZATION OF TIRE CRUMB COMMENTS
1. SCALE AND SCOPE: Tire crumb potential to individuals, buildings,
surrounding areas and stormwater for contamination is enormous.
1 SHPFC COMMENTS ASTDR-2016-0002-0003
2

2. PUBLIC HEALTH ISSUE: SCALE AND SCOPE CONCEPTS
The potential for contamination from tire crumb is a growing public health
issue, in terms of the relative size of the product and its mass; the total
number of potential fields; and their basic contact with students, athletes,
school personnel, buildings, communities, and streams/storm water.

To give an idea of the existing volumes of material, the field runoff and
children affected or who may be affected, we have developed reference
tables, and the summary is attached to this filing These tables indicate the
scope and scale, and demonstrate that these are not isolated fields, nor tiny
exposure potentials. The quantities of material are enormous. The source
and reasoning is explained, but the tables are designed for your model
development and quick reference.

3. ENORMOUS QUANTITIES ON EACH FIELD SURFACE .
To give an idea of the scale, a modest soccer field uses 30,000 waste tires.
According to a randomly selected company selling packaged tire crumb
infill for original or replacement treatments, 30,000 tires makes about
396,667 pounds of lbs of material. According to our calculations, the
volume for 2” thick field is about 525 cubic yards, However, a large
football field, three times the size of a small soccer field, could use
1,000,000 pounds of tire crumb material.

4. The tires are shredded, pulverized into crumb of various sizes, and the
shredded material is poured on top of a plastic “grass” carpet. Importantly,
the material is loose, unencapsulated and can loft into the air when struck
by a ball or foot, or body. We estimate that, depending on the school, each
field has regular, daily contact with at least 1000 athletes and students. At

SHPFC Comments ASTDR-2016-0002-0003 1
3

sports events, busy tournaments, or with active use, a field can have
contact with many, many more.

5. No fields we found have mandated capture of the leachate or
particulate at the field.

6. TOTAL FIELD VOLUMES POTENTIAL:. The universe of potential tire
crumb playfields is approximately 200,000 - 220,000 schools and athletic
facilities in the US, based on number of schools. The potential reach of
exposure from use of these fields is in the millions of children, millions of
adults, hundreds of thousands of exposed buildings and adjacent soils, and
hundreds of thousands of public easements and storm water access points
(we estimate 1:1 ratio for field to point source drainage).

7. TABLE RUNOFF AND VOLUMES: SUMMARY OF KEY METRICS

For reference, we analysed fields by sport type, by Metropolitan Service
Area, and calculated the volumes for rainfall (by city), and for amount of
tire crumb material on a field surface.

Key metrics are the following:



Estimated tire crumb per 85,000 sq feet field and 2” deep tire crumb
infill is 525 cubic yards, 396,667 pounds, or 198 tons per field.



The total amount of tire crumb material on surface of 12,000
fields is estimated to be 6,296,296 cubic yards, or
4,760,000,000 pounds or 2,380,000 tons that are currently in
sports centers and schools in April 2016..

1 SHPFC COMMENTS ASTDR-2016-0002-0003
4



Runoff is calculated by city and field size, but the total runoff
for fields in the top 50 MSAs is 15,006,99,787 gallons.



Total Runoff for 12,000 fields based on number of fields per MSA,
accounting for rainfall in that MSA, and added together for 2016 is:
23,370,639,827 gallons… for a single year.

The calculations were made to illustrate the scale and scope of this product,
and to characterize the reach of exposures from the field surface into the
airway, and into the water pathway.

8. INGREDIENTS IN TIRE CRUMB: Lack Of Uniformity, High Variation,
Multiple Toxins
Tire crumb appears to be a composite material, heterogenous with multiple
known carcinogens, pathogens, and mutagens. The material is not uniform,
comes from multiple sources and lots, and can be mixed with plastics and
materials of unknown origin. The material can have anticlumping agents,
flame retardant additives, paint, and strengthening or characteristic
enhancing additives. Shredding of tires can cause small pieces of steel or
metals to be included in the material from steel belted tires. Some tire
crumb is from newer depositories from recalled tires, some from landfills,
and some have been subjected to a variety of weather and conditions.
Leachate and off gassing could be variable, with the expectation that newly
installed/poured material off-gassing is higher than from an older field, but
we expect those rates would vary with the age of the tires from which the
tire crumb was made.

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9. HETEROGENEOUS, MULTIPLE TOXINS, UNKNOWN ORIGIN: To say that
tire crumb infill comes from multiple sources, is an understatement:
dispensaries, landfills in the US, landfills abroad, collection centers, factory
waste from China, factory waste from the US and abroad. Some of the
newer marketed blends included multi colored sport shoe waste, shoe
factory waste, and many unidentified synthetic materials. Just as tire
companies may add anything to their “recipe” for a tire, an infill provider
may offer materials that could have anything added into the blend. Tire
plugs, tire polishes, tire coatings, and materials picked up on the roads
should be considered. And even if it is known that there are only tires in
the blend, there is a broad variation in the ingredients based on the use of
the tire, and the manufacturer. Those tires may look the same, but from a
toxicity standpoint their variation and the unknowns in the “recipe” create
a margin of uncertainty that makes any claim of known safety for inhalation
or ingestion impossible. If a vendor says he or she knows what is in a lot of
tire crumb, and that is known to be safe, then they ignored the materials in
the product. Since we never know what is in any field for sure, and if we
know that they have tire crumb, they cannot be demonstrated safe for
children to inhale, ingest, nor play upon.

10. What Is In Tires? SOME GROUPS WENT LOOKING
Since it was difficult from MSDS or any other source to identify the
components in tires or tire crumb, some groups studied them directly.
11. Environment and Human Health Inc, and Yale University Study
EHHI, Inc. in cooperation with Yale University studied samples of rubber
mulch, and new tire crumb with the intent of characterizing their
ingredients.
The summary text of their characterization study is found here:
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http://www.ehhi.org/turf/metal_analysis2016.shtml
http://www.ehhi.org/turf/findings0815.shtml
The EHHI/Yale Study list of components found is explained this way:
The shredded rubber tire playground mulch samples tested were provided
by the manufacturer and were purchased in new bags of rubber mulch for
use in gardens and playgrounds. The rubber tire infill for synthetic turf
fields was obtained as new infill material from installers of synthetic turf
fields. There were 5 samples of infill from 5 different installers of fields and
9 different samples of rubber mulch taken from 9 different unopened bags
of playground mulch.
RESULTS
 There were 96 chemicals found in 14 samples analyzed. Half of
those chemicals had no government testing on them - so we have no idea
whether they are safe or harmful to health. Of those chemicals found that
have had some government testing done on them these are the findings
with their health effects.

TWELVE (12) KNOWN CARCINOGENS
2-Mercaptobenzothiazole/ Carcinogen, toxic to aquatic life
9,10-Dimethylanthracene/ Carcinogen, respiratory irritant and can cause
asthma
Bis(2-ethylhexyl) phthalate/ Carcinogen, may cause damage to fetuses
Fluoranthene / Carcinogen, Fluoranthene is one of the US EPA's 16
priority pollutant, A PAH.
Heptadecane/ Carcinogen
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2-mercaptobenzothiazole / Carcinogen
Phenol, 4-(1,1,3,3-tetramethylbutyl)/Carcinogen
Phenanthrene/ Carcinogen - A PAH
Phthalimide/ Carcinogen, skin, eye and lung irritan. A Fungicide
Pyrene, 1-methyl- /Carcinogen
Tetratriacontane /Carcinogen, eye and skin irritant. Can cause systemic
damage to central nervous system.
Pyrene/ Carcinogen, toxic to liver and Kidneys, a PAH
Carbon Black/ Carcinogen
Carbon Black makes up to 20% to 30 % of every tire. It is used as a
reinforcing filler. Carbon Black is listed as a carcinogen by the International
Agency for Research on Cancer (IARC).
Carbon Black, as such, was not analyzed by the Yale Study because Carbon
Black is made up of a number of chemicals – some of which were found in
the Yale study.
Carbon Black is not one chemical -- it is made up of many chemicals - often
of petroleum products. Furthermore, carbon black has no fixed
composition, even of the many compounds it contains. Carbon black from
different sources will have
differing compositions. In our method, carbon black will register as
a series of substances extracted from it. There is no carbon black
molecule, it is a mixture.
TWENTY (20) KNOWN IRRITANTS

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1,4-Benzenediamine, N-(1,3-dimethylbutyl)-N'-phenylIrritant - causes skin and eye irritation, toxic to aquatic life
1,4-Benzenediamine, N-(1-methylethyl)-N'-phenylIrritant - causes skin and eye irritation, toxic to aquatic life
2(3H)-Benzothiazolone
Irritant - causes skin and lung irritantation
2-Dodecen-1-yl(-)succinic anhydride
Irritant - causes eyes, skin and lungs irritation
3,5-di-tert-Butyl-4-hydroxybenzaldehyde
Irritant - causes irritation to eyes, skin and lungs.
Anthracene
Irritant - causes skin, eye and respiratory irritation. Breathing it can
irritate the nose, throat and lungs causing coughing and wheezing.
Benzenamine, 4-octyl-N-(4-octylphenyl)Irritant - causes eye and skin irritation
Benzenesulfonanilide
Considered hazardous, very little testing has been done on it.
Benzothiazole, 2-(methylthio)Irritant - causes Skin and eye irritation.
Dehydroabietic acid
Toxic to aquatic organisms
Docosane
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Irritant - causes Skin irritation
Hexadecanoic acid, butyl ester
Irritant - causes eye, skin and lung irritant. Can cause reproductive effects.
Methyl stearate
Irritant - causes eye, skin and lung irritation.
Octadecane
Irritant - causes kin, eye and respiratory irritation
Octadecanoic acid also known as Stearic acid
Irritant - causes skin, eye and respiratory irritation
Oleic Acid
Irritant - causes skin and eye irritation
Phenol, 2,2'-methylenebis[6-(1,1-dimethylethyl)-4-ethylIrritant - causes skin, eye and respiratory irritation
Tetradecanoic acid
Toxic to aquatic organisms. Skin and eye irritant.
Anthracene, 2-methylAcute aquatic toxicity, Not much data available - what there is shows it to
be an eye, skin and lung irritant
Anthracene, 9-methylAcute aquatic toxicity, serious eye irritant
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13. Carbon Black
Carbon black plays an extraordinary role in tires, and in their toxicity and
potential for harm from exposures. Well known from decades of air
pollution studies, urban epidemiological studies, carbon black causes lung
cancer, brain cancer, kidney cancer, heart disease, neurological disorders,
and cognitive degenerative disease.
A known carcinogen (WHO), we have found variations in percentages of
the amount of carbon black in a tire, from 30%-68%. (EHHI/Yale Study; NY
STUDY, .pdf, pp19-20.) Carbon black breaks down into many sized
particles, including PM10/PM2.5. That size particle was shown to cause
several types of cancer, including brain cancer, kidney cancer, kidney
disease, bladder cancer, and neurological disease and cognitive impairment
disorders. (CITE; Harvard Mexico Studies and Urban Cohort Studies) We
know for sure that carbon black is in tires, in part from simple observation
of color.
14. THE NY STUDY CHARACTERIZES TIRE CRUMB THIS WAY:
“The components of Firestone’s and Dow Chemical Company’s rubber are
summarized in technical specification documents. Although they are only
two of many different rubber manufacturers, a similarity between the two
vendors is readily apparent, even between three different types of rubber,
solution-SBR, cold polymerized emulsion SBR, and high cis2-4
polybutadiene rubber. In general, the following similarities were observed
between the two manufacturers for the compounds used to produce the
rubber:
• The polymer used to produce solution-SBR contained approximately 1840% bound styrene.
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• The oil content in the polymer ranged from 27.3-32.5% in solution-SBR
and cold polymerized emulsion SBR. Oils used include aromatic oil, high
viscosity naphthenic oil, and treated distillate aromatic extract oil.
• Besides the polymer used, the other components of the rubber were
similar between manufacturers and the relative proportions (parts by
weight) of these other components ranged as follows:
o Carbon black: 50.00 – 68.75
o Zinc oxide: 3.00
o Stearic acid: 1.00 – 2.00
o Sulfur: 1.5 – 1.75
o N-tert-butyl benzothiazole sulfonamide (TBBS): 0.9 – 1.50
o Naphthenic or aromatic oil: 5.00 – 15.0
The components summarized above are the principal components of the
major type of rubber (SBR) used for the manufacturing of crumb rubber
and therefore have the potential to have a significant presence in crumb
rubber. As discussed in subsequent sections of this report, some of these
components have been found to be prevalent in crumb rubber, including
zinc (from the zinc oxide), benzothiazole compounds (from TBBS), and
PAHs (possibly from the oils used). These compounds may be attributed to
the SBR used in the manufacturing of crumb rubber.”
15. Phthalates are a regulated toxin, and PEER filings covered some of
the toxicity and regulatory discussion. Please refer to
http://www.peer.org/campaigns/public-health/artificial-turf/newsreleases.html

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16. ZINC
Coastal Marine Resource Center Study, found fatal levels of zinc in leachate
from tire crumb fields. This amount would cause fatal impacts to aquatic
ecosystem within 48 hours. This is a notable amount, and though was
assessed in terms of environmental health, indicates presence.
Menichini and Abate Study: “Zn concentrations (1 to 19 g/kg) and BaP
concentrations (0.02 to 11 mg/kg) in granulates largely exceeded the
pertinent standards, up to two orders of magnitude”. “Zinc and BaP
concentrations are high in rubber largely exceeding the Italian soil
standards”.
17. METALS: MERCURY, CHROMIUM, ARSENIC
The highest median values were found for Zn (10,229 mg/kg), Al
(755 mg/kg), Mg (456 mg/kg), Fe (305 mg/kg), followed by Pb, Ba, Co, Cu
and Sr. The other elements were present at few units of mg/kg. The highest
leaching was observed for Zn (2300 μg/l) and Mg (2500 μg/l), followed by
Fe, Sr, Al, Mn and Ba. Little As, Cd, Co, Cr, Cu, Li, Mo, Ni, Pb, Rb, Sb and V
leached, and Be, Hg, Se, Sn, Tl and W were below quantification limits. Data
obtained were compared with the maximum tolerable amounts reported
for similar materials, and only the concentration of Zn (total and leached)
exceeded the expected values.
18. LEAD, POLITICS and CHILDREN
The problem is synthetic turf is NOT REGULATED as a children's
product by the CPSC thwarting the ability to apply lead regulations
that CPSC could enforce.
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Lead was identified in synthetic turf fields as early as 2008 but was not
addressed in any systemic way due to lack of standards or
required testing (although the CPSC could have required the testing
mandated for children's products since 2008). The CPSC has chosen not to
mandate this children's product testing for synturf and in fact advised the
industry about not having it designated as a children's product
< http://parentscoalitionmc.blogspot.com/2009/03/artificial-turf-tale-oflead-levels.html> .
This has led to a "buyer beware" situation especially after the CPSC tested
synthetic turf carpets, found lead at varying levels depending on sample
age, and astoundingly concluded the whole synthetic turf system was,
always and everywhere, safe not just for adults but for children. The
assumptions were based on inappropriate modelling for blood lead levels
from a meager sampling and the troubling finding presupposes that there
is, a safe level of blood lead, which most pediatricians and lead experts
agree there is not safe level.
To this day the synthetic turf industry cites the still CPSC-posted "OK to
Install, OK to Play on" press release which should never have been posted
to begin with, has been disavowed, in front of US Congress, by CPSC
commissioner Kaye and is an embarrassment to government science, policy
and public health 
19. By contrast, The Centers for Disease Control (CDC) in contrast
warned and continues to warn the " there is no safe level of lead" to
expose children.
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http://www.cdc.gov/nceh/lead/>
http://www.cdc.gov/nceh/information/healthy_homes_lead.htm.
“No safe blood lead level in children has been identified. Lead exposure
can affect nearly every system in the body. Because lead exposure often
occurs with no obvious symptoms, it frequently goes unrecognized"
In 2010 Van Ulirsch et al ( Environ Health Perspect. 2010
Oct;118(10):1345-9 
22. And for the past 2 years the company FieldTurf has, with impunity,
noted its synturf fields contain lead during testimony on various bills in the
Maryland State House.
The latest admission documented on video:

"....asked point-blank by one delegate, “Is there lead in your
products? The executive answered, “There’s lead in a lot of things in
this world.”.... “Yes, there’s lead in our products." In spite of this
admission and the fact that the legislation in question was meant to
post the CDC prescribed warnings about minimizing lead and other
toxin exposures from the synturf and tire waste products, and in
spite of the fact that the legislation had strong and broad input and
support, the legislation was not even allowed to come up for a vote
in committee by the committee chair.
23. Public Employees for Environmental Responsibility compiled the
literature as of early 2012 on lead
see:  and specifically: 2012-07-12_lead-limits-needed-on-tire2 SHPFC COMMENTS ASTDR-2016-0002-0003
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crumb-playgrounds (NOTE if you go to PEER.ORG news releases: click on
public health and "artificial turf" to find the actual filings with many links}
Unfortunately for the children, fields with high lead remain. But those
responsible for protecting children are kept in the dark. NO ONE IS
MONITORING OR REGULATING ARTIFICIAL TURF FOR LEAD OR OTHER
TOXINS in either old or new fields, including the Consumer Product Safety
Commission (CPSC) (see 
For example as reported in that article:
Dr. Shalat's New Jersey State Study (2012) on artificial turf found lead in
the field dust in the respirable air space of a robot and real player- highly
variable but sometimes very high (note most facilities would NOT LET
THEM TEST).
 2014
" Bio-accessibility and Risk of Exposure to Metals and SVOCs in
Artificial Turf Field Fill Materials and Fibers" , Brian T.
Pavilonis1,Clifford P. Weisel1, Brian Buckley1, and Paul J. Lioy1
QUOTE from Pavilonis et al:."Since it is possible that children may be
exposed to potentially high concentrations of lead while using
artificial turf fields we recommend, at a minimum, all infill and fibers
should be certified for low or no lead content prior to purchase and
installation."
*The main out-comes of concern from Pavilonis et al:
a) the finding of lead, and chromium in both the tire crumb and
the plastic rug and simulated body fluids at sometimes extremely
high levels *EVEN IN NEW FIELD CARPETS.*
b) Benzothiazole derivatives and 4-(tert-octyl) phenol were also
found in in the simulated body fluids. Both are probable carcinogens
(the subject of another fact sheet).
QUOTE: "Lead was detected in almost all field samples for
digestive, sweat, and total extraction fluids with digestive fluid
extract of one field sample as high as 260 mg/kg. Metal
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concentrations were not markedly different across the three
different sample types (new infill, new turf fiber, tire crumb field
sample). However, one of the *new* turf fiber samples contained
relatively large concentrations of chromium (820 mg/kg) and
lead (4400 mg/kg) compared to the other samples tested…the
variability of lead contained in the infill material is large and can
span more than two orders of magnitude* . One field [tire crumb]
sample did contain a high lead level (260 mg/kg) which was on the
same order of magnitude as the NJ DEP cleanup value (400
mg/kg).”
In summary: Lead-free is the only acceptable level for child
products (and indeed for people in general). There is NO safe level
of lead for children. And yet many of our children are playing
often, if not daily, on fields that may contain lead and certainly do
contain many other toxic substances. Finding ANY lead in any play
area for children of any age is unacceptable. As the CDC notes: Every
effort should be made to eliminate ALL unnecessary sources of lead
in the environment, especially a child's environment. *Lead in
artificial turf is not only totally unnecessary but dangerous to
health AT ANY LEVEL*.
28. Other sources of information on Lead in tire crumb fields:
www.ehhi.org/turf/
www.safehealthyplayingfields.org
www.synturf.org
[FOOTNOTE SYN TURF]Where on the Synturf page on lead you can find:
No. 36] Mayo Clinics tips to protect children from lead in artificial turf.
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April 2015.
No. 35] Durham, New Hampshire: Lead scare at UNH, s Memorial Field.
November 2012.
No. 34] Beware of lead content in exotic color artificial turf fields!
September 2012.
No. 33] Odessa, Texas: Eager fans will not be given pieces of the artificial
turf field. September 2012.
No. 32] U.S. Federal panel increases child protection against lead. February
2012.
No. 31] UNLV researcher spreads word about the need to test artificial turf
fields. December 2010.
No. 30] Environmental Health Sciences study (2010): Deteriorating
synthetic turf dust containing lead may pose a risk to children. October
2010.
No. 29] Concord, Mass.: Town replaces fake grass fields, officials insist
nothing is wrong with the lead levels! July 2012

28. TWELVE (12) CARCINOGENS found and HOW DO THEY
INTERACT:
The Yale Study identified the presence of so many carcinogenic materials in
a single material that it raises many more questions about interaction of
PAHs with metals, and combination impacts. The interaction of the PAHs
and benzothiazoles with other materials in the fields needs to be
characterized and addressed
29. Strengthening Additives: Nanoparticles
We would also ask for information and clarity about tire strengthening
additives of any kind that were built into the material anytime in the past
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30 years, these would have been added to tires.
[http://nice.asu.edu/nano/carbon-black-and-amorphous-silica-tires]
Similarly, we request that the tire manufacturing industry explain their use
of nanoparticle products, of any kind, including the type and size, source
company and source country, and ask for an explanation about how:
a. they can be quantified in the product, and
b. how can they be cleaned up if they are released when the tire
crumb and or plastic “grass” carpet degrades?
c. We would also like to understand what material
characterization of their behavior in tires performance,
d. And or their behavior once they are released into the
environment.
e. We ask for any epidemiological due diligence that was
conducted by any tire company on nanoparticle use prior to
using them in a commercial product.
f. Plans for continued use and safety precautions tire
companies will impose upon themselves
g. Epidemiological studies conducted on these particles in tires
30. Plastics, Microplastic Fibers, Microbeads, and Small Particulate
Plastics
Assessment of microfiber particulate and small particulate plastics needs to
be assessed in characterization studies.
31. Flame Retardants
Flame retardants can be added to a tire in production, or applied post
production in a shipping setting or possibly as tire crumb. Since flame
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retardants are known carcinogens with health issues of concern, and will
be on the surface of the waste tire crumb, tire infill providers need to know
if they are present, and purchasers need to know that the material contains
flame retardants prior to purchase.
32. Tires and Tire Crumb Additives
Myriad products exist to clean, protect, condition, and color tires. We
wonder if they are components of tire crumb?
33. Road Waste Picked Up By Tires
Tires spend their lives on roadways, of course, and can pick up many
materials in their travels. Debris, hydrocarbons, ….

34 CARINOGENIC, PATHOGENIC, and MUTAGENIC ingredients in tires
cannot be removed by shredding tires into tire crumb and must be
assumed to be accessible.

35. Tire crumb and repurposed rubber appear to be the same thing,
with interchangeable use… but are they the same? We would like
clarification.
We would like clarification about the distinction between the tire crumb,
repurposed crumb rubber, and crumb rubber. Specifically if using the term
“repurposed rubber crumb” implies uniformity of ingredients? Does that
term imply tires are not used? If so, what are the ingredients in
repurposed rubber crumb and how do they differ from tire crumb?
36. We would also like access to all MSDS/SDS of tire crumb
manufacturers and tire companies, and the ability to ask questions about
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how and where they were made, variations on lots, source and composite
addendums. It is difficult to locate them.
37. EXEMPTION ON LISTING HAZARDOUS MATERIALS: We would like
to understand why tire companies have an exemption on their need to list
ingredients under Section 2: Hazardous Materials of an MSDS/SDS. We
were unable to find the source of that exemption, if it has a deadline, and
whether your study group thinks it is an obstacle to understanding and
characterizing risk of exposure from tires and tire crumb.
38. Of those MSDS that we located, several, like this Michelin North
America Material Safety Data Sheet for Michelin, Uniroyal, BF Goodrich,
says in “Section 2 HAZARDOUS INGREDIENTS: Note: Tires meet the
definition of article as defined by the OSHA Hazard Communication
Standard (29 CFR 1910.1200) and are exempt from MSDS
requirements.”
There was clearly no mention of 1,3 butadiene, carbon black, POHs, VOCs,
benzothiazoles, or any plasticizers, nor metals, styrene, sulphur, known
irritants, or well… anything. Since that section also outlines corrosive,
combustible and waste treatment, it is important for more than this issue.
We explicitly ask CDC/CPSC/EPA if they can use their existing authority to
require tire crumb companies and tire companies to provide ingredient
information.
39. SOURCE MATERIAL UNKNOWN: MSDS/SDS CANNOT REPRESENT
WHOLE FIELD. Tire crumb comes from many tires, and many sources.
Since not a single tire crumb field can accurately list or track which tires
were source materials, or what other mixed in components, and there is no
accountability from tire crumb recycling industry for the shredded product,
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then MSDS/SDS cannot be accurate for a whole field due to variability.
Therefore, the burden of “proof” of risk lays squarely on the ability of the
purchaser (schools, sports directors, booster clubs) to assess risk… of a
very very complex product. So, if the exemption stays in place, we will
know for sure that we cannot know what is in a tire crumb based field.

40. TREATMENT TO SHOW NO PARTICULATE OR BREAKDOWN:
SHOW US.
As for studies that claim that their product has been treated (such as
cryogenic treatment) to not break down into dangerous particulate, we are
deeply skeptical, and would ask for proof. We also ask for assay testing
over a period of at least several summer weeks. We ask for the researchers
to simulate the pounding over 10 years and assess the particulate
characteristics and particle size. That testing in fact is being done right
now… in thousands of children across the country. Simple observation on a
player body, on the sideline benches, or under a microscope shows
consistent breakdown into particulate.

41. SHREDDED, PULVERIZED, HIGH SURFACE AREA FORM OF TIRES
and ADD INS is LIKELY MORE TOXIC THAN WHOLE TIRES.
Unfortunately, because it is shredded, pulverized, and in loose and
unencapsulated form, tire crumb has exponentially more surface area than
whole tires (Thomas, Gupta study; ) and we are concerned the material is
very likely more toxic––possibly many times more toxic––in the school
field form than whole tire form, since the increased surface area provides
more opportunity for molecules to escape. We know for sure that the
increased amount of surface area in tire crumb makes the material in tire
crumb more available to the breathing and exposure zones, and to runoff.

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42. CRUMB IS SURROUNDED BY DUST PARTICULATE:
Accurate characterization technique must include a study of the particulate
that surrounds tire crumbs, and steps must be taken to make sure that the
sampling process does not inadvertently remove that dust and particles.
We found several examples of the samples being washed, some in
unbuffered water, prior to their analyses being done. Of course, that
removes the particulate that concerns us the most. Distribution of the
particulate size and type is important. Those particulate can become
aerosolized by numerous gases and we ask that attempts are made to
properly model this dynamic under high heat conditions, primarily.

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43. VERY COMPLEX PICTURE From TOXICOLOGY PERSPECTIVE: Tire
crumb material is complex from a toxicology perspective, largely due to the
chemical complexity presented by multiple known toxic components and
variation. It has been described as a “toxic soup” of ingredients for which
we have no consistent data on proportions or levels. Characterization of
ingredients’ margin of error is unknown..
Testing must be done at the field levels using accepted sampling plans that have
been statistically shown to be valid. Not fields have been tested in sufficient
detail to determine or rule out any exposures or risks. A look at testing protocols
for lead in urban soil sites illustrate the level of attention required and show the
degree that current testing has fallen short of that needed for decision making
for children’s health.

44. CONTACT PATTERNS, FIELD USE and ADJACENT BUILDING
CONTAMINATION
Exposure is likely determined by ingredients in surface, activity, and
number of children or users on field. Each school or community field has
high use and high contact patterns, such as hosting contact sports, like
football, lacrosse, soccer, and baseball, athletic camps, workshops and
practices. In those sports, children dive into the field materials. As a child
runs or skids or slide tackles, a column of material rises up, as does the dust
and particulate that surround the tire crumbs themselves.
Testing for exposure need to list weather conditions including humidity,
wind speed, and precipitation, temperature on field surface and ambient air
temperature. Number of children on field, and activity level of that play
needs to be recorded, video would be most interesting.
Children of all ages use the fields for multiple sports, recreation and school
events. Artificial turf tire crumb fields abound in elementary schools and at
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indoor and outdoor sports centers where children of all ages and all stages
of development play soccer, lacrosse, football, track, cheerleading, band,
and use the field for general recreational school activities. In the fields
with which we are familiar, families with members of all ages use the fields;
and the community holds events, picnics, special fairs, and activities. Some
fields are immediately adjacent to a school building.). That there are many
uses, and probably many levels of contact and exposure is an important
part of characterizing exposures, but both low dose exposures AND high
contact exposure scenarios and use need to be examined, with appropriate
epidemiological process.
45.. SCHOOL BUILDINGS AND SURROUNDING AREAS ARE
CONTAMINATED with a great deal of tire crumbs. The fields appear to
lose from 1-30 tons of material over their 8-10 year life, and some of it goes
directly into buildings, cars, and then homes. This impact needs to be
studied as an inadvertent consequence.

46. CANNOT ARGUE NO INHALATION OR INGESTION RISK or SAFETY
FOR EVEN A SINGLE FIELD. We argue that given the unique characteristic
of nonuniformity, known carcinogenic materials, breakdown into
particulate/dust, no known source of origin, and no accurate studies on
complex interactivity of those components in the children’s exposure zone,
in the tire crumb as it is installed today in 12, 000 fields, not a single field
installer, nor material provider can demonstrate that the material is safe
from inhalation and ingestion during normal use, active use, and on hot
days.

47. EVERY USE COULD POSE A TOXIC EXPOSURE and it would be
irrational to argue otherwise. We argue that due to the high variability of
toxins in the tire crumb substrate (from tires, unknown additives, and
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factory waste add-ins), and lack of any control of the material, well-known
sampling techniques will NOT accurately predict risks to human health.

48. CHILDREN CANNOT AVOID THE EXPOSURES: Since school children
cannot self-advocate and take responsibility for staying off a field if
directed to be there by coaches or school officials or parents, we must
assume that children cannot avoid the exposures when they play on those
fields.

49. CANNOT CLAIM THAT EXPOSURES WILL NOT OCCUR. Absolutely
no way to responsibly claim that ingestion and inhalation of particulate
from the material will NOT occur to those children.

50. HOTSPOTS of intermittent dangerous exposures are possible, and
should be expected and searched for in every field.

We must assume that tires have different “recipes” based on their type of
use. Therefore, knowing the type of tire used in tire crumb, and each tire
“recipe” would be helpful in assessing characterization of ingredients.
However, there is no way to ever know what tires, or what material is in
any field, and therefore, an MSDS/SDS cannot be representative of any
field, or even any meaningful part of a field. Alarmingly, the high variability
in the ingredients presents worrisome “hotspots” potential, where the
hotspots might be missed in sampling but even a single exposure could
have very serious impacts for a child who has the unfortunate luck to dive
into that hotspot. PAH’s may be more prevalent, and present dangerous
levels for installation period of the field, and for some unknown period of
time afterwards, and considered a “hotspot”, then the consistent release of
PAHs in the subsequent years could mean low dose, chronic exposures.
Both need to be examined.
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51. Lead, chromium, mercury and arsenic could be hotspot sources,
based on which tires were used, and how they were treated prior to
being placed in the field.

52. For example, when we asked about the source of lead in tire crumb
fields, an infill vendor explained to us that a) lead could be in any field as an
ingredient of the tires, of the treatment of tires, and b) once, they were
aware of a shipment of tires that was treated with an anticlumping material
that contained lead and the whole lot had lead, and c) that some lots had
flame retardants added as well. They would never really know, but “most
purchasers never ask”, according to the infill material vendor. If an MSDS
was required, an additional charge was to be imposed, since MSDS were
not available from the materials they acquired from China or other
countries. We have collected many more examples of the worrisome
unknown ingredients in our fields and can share with the study teams, if
requested. While this information is anecdotal, that is the point: we have
no idea what is in any field, for sure.

53. Another example, but this is not anecdotal: in a primary study field
exposures in CT, a researcher found that the children’s monitors showed
benzene. Since there is no safe level of exposure for benzene, and in fact,
tires are not expected to have benzene, the field was sampled more closely,
until that “hotspot” was located. The original source of that benzene was
not determined, but it was next to a busy parking lot where cars’ exhaust
may have been a source as they turned the corner, or possibly the tire
crumb material had been previously stored in an area with benzene in
surrounding environment, or perhaps it was picked up from contact on
roads. We will never know. That finding suggests that the carbon black in
the tires can adsorb additional toxins present near tires or tire crumb, and
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could release that material as the fields are pounded with running feet, or
possibly on a hot day. The proper characterization of this material needs to
account for adsorption characteristics of carbon black, and other
interactions

54. The point is, that it is impossible to locate hotspots for all toxins in
every field, and incorrect to extrapolate the risk for a whole field from
a single sample or even multiple samples, since every sample is
unique. So, while hotspots can easily be missed in a field, the
unfortunate child that dives into that particular part of a field has an
exposure that can actually be life threatening, but missed in its
entirety in the sampling based risk assessment.

55. In fact, since the tire crumb creates multi sized “dust” particles,
and off gases, it is impossible to prove that even a single field is safe
from inhalation or ingestion exposures from tire dust particulate, offgassing components, multiple toxins and combinations of toxins, and
heat.

56. Importance of the Heat Factor: Source of direct injury and
chemical catalyst

HOT HOT HOT HOT EXTREMELY HOT FIELDS
Grass playfields remain close to the temperature of ambient air, and are
often much cooler. Asphalt playgrounds used to have a use limit of 141F
and many schools remove children from playgrounds when temperatures
get hot. With tire crumb based turf fields, surface temperatures can soar on
even mild sunny days.
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Tire crumb fields “superheat” to levels that are routinely over 150F on a
sunny spring day, and in a recent study conducted on a sunny day Utah,
found to be close to boiling point, 190F, according to the Penn State Field
Turf Heat Study. The study found that tire crumb field surfaces are hotter
than ambient air, and increase in heat in a non-linear function with each
additional degree Kelvin of heat, hence the designation “superheating”. To
draw an example, on a Labor Day Weekend in DC area, with ambient temps
of 82F, the field surface temperature hit 164F by noon on several fields
used in a busy, tournament for about 1000 children, both boys and girls,
ages 8-15. Those levels are known to melt plastic cleats, require tubs of
water on the sidelines to cool down shoes, and create heat-related injury
including heat stroke, nausea, heat exhaustion, and dehydration in children
and all users. It is not unusual for children players to vomit, faint, and suffer
dehydration from hot conditions on the fields.

57. Marketing and sales for these fields tout their usability in all conditions
as a benefit (more practice and play hours), but in fact, the heat build up on
fields makes them very uncomfortable during many days and conditions. In
DC, there are over 100 days of sunshine each year, and most are during the
spring, summer and fall, making the fields uncomfortably hot and possibly
dangerously hot for a third of a year. A calculus should be made on the
percentage of safe days to play based on field yield risk, and heat.

58. Tire crumb fields do not have any protection from heat, and so they are
irrigated to be cooled down, but the effect is temporary.

59. To our knowledge, there has been no well known place for doctors nor
parents to report heat injury, though they are commonplace. (This author
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specifically remembers a hot, poor air quality day in August in 2014 in
Washington DC when during a single practice, 4 soccer players vomited,
another child was taken to the hospital after passing out, and another
sidelined himself against the coach’s wishes, due to extreme dizziness and
nausea.)

60. Reluctance to Report? Yet, it is curiously uncommon for school
teachers, coaches and parents to remove the children from the fields, due to
temperature. We cannot explain that in rational terms.

We have also noted another curious effect: as football, soccer and lacrosse
increase in popularity and competition in the US, competition for spots on
high performance teams is fierce. There is a perception from strong sales
and marketing of the fields, that the turf fields present a competitive edge
for a school, a club or even a teenager trying to get into college, and are
worth the high price paid. As psychologist Dr. Wendy Miller, explains, “ it is
a culture where high performance parents, players and schools might be
willing to overlook these injuries, thinking that to complain would
jeopardize their child’s access to a competitive team. This thinking could
easily lead to the silencing of reporting of injuries.”

Heat injury reporting needs to be included in the survey questionnaires,
and victims of heat injury and illnesses need to have a place to report, with
impunity.

61. HEAT MAKES THE CHEMICAL DYNAMICS ABOVE A FIELD VERY
COMPLEX

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In addition to the serious issue of direct injury from hot playfields to young
children, or anyone, the super hot fields present a very challenging
chemical situation.
Dr. David Brown, ShD, toxicologist, professor and former Deputy Director
of Public Health Practice Group at ATSDR/ CDC explains that, “the
unintended, and largely unstudied chemical consequences of what comes
off such an enormous quantity of high surface area material, in amounts
and sequence that is scientifically accurate is very difficult to predict and
model. Since the chemicals in the area above the field could change
instantaneously, the conditions are critically important (number of players,
temperature, time from last rainfall, etc.), as is the sampling methodology.
But no one has been able to come close to modeling the actual yield, we
only know the materials by characterization with samples, and that
variation in samples is so broad as to almost be meaningless, since it could
be easy to miss harmful exposures.”

62. Analyzing the field yield on a hot day is very complex, and challenging
to even trained toxicologists. The superheating of the fields makes gases
yield at faster rates as temperatures on the tire crumb surface increases.
So, as a day heats up, it is very likely that the yield increases directly with
temperature increase; a hot day creates more gases. Based on well
understood scientific laws, we presume that the gas yield from the field at
surface temperature of 50F (a cloudy day in January in DC) would be
considerably less than a field surface temperature of 158F measured last
week. If more gases are escaping the surface, then there are more
“opportunities” for particulate to adsorb onto the surface of the gases,
creating very dynamic series of compounds, none of which would be
recommended to inhale.. The changes in the chemical composition over the
fields as their temperatures rise is very difficult to test and model. These
changes happen in an instant… as a threshold is reached… and the
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exposures can increase sharply. It is a very sophisticated and difficult
challenge to model. But what is the most important is not only that the 24
gases that escape tire crumb (Norway Study) create dangerous mixtures
but those gas/particulate mixtures, (and air) create a vector for deep lung
exposures of all the materials in the tire crumb field. So, on poor air quality
days, when there are many children on the field and a lot of stirring up of
the material, the fields could present enormous risk.

63. We are concerned about the range of yield levels, but, we are most
concerned about the intermittent risk to children during those hot periods
(a hot, poor air quality summer day during children’s soccer camp week in
Washington DC, for example) when the fields are likely yielding more gas,
and therefore particulate has more “carriage” into lungs, respiration rates
are higher, skin is exposed, and perspiration is highest. All these are likely
factors in exposure. It is during those days when exposures are probably
highest, and high enough overwhelm a developing immune system.

64. Exposure Study Needs To Focus On Worst Case Conditions
We acknowledge that the level of yield from the fields might vary widely
with material variation, and will also vary with outdoor weather
(temperature, wind, humidity and sun) conditions. Taking averages from
fields across the country will be meaningless, and will only help the
industry to expand its message of “found no harm”. An analogy might be to
determine the health of a forest taking 4 samples from 40 locations, evenly
spaced, but the sampling might easily miss a blazing forest fire. That one
day might destroy living material exponentially, but it could easily be
missed. Dangerous exposures can be unpredictable in this material due to
the scope and scale, the toxic character, and the superheating
characteristic.

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65. A better approach is to carefully detect high yield days, and look
THAT DAY for exposures in a child’s body during those periods. Since
the exposures might attenuate, the work would have to be done
expeditiously. The harmful exposures may or may not be detectable a day
or a month later in a child. Monitor both genders, for patterns that might
lead to that awful air quality soccer camp in the city on a tire crumb field,
on days when vomiting and melting shoes are commonplace. A focus on
the impacts from the high end of those yields we believe will present
exposures that are clearly, and unequivocally harmful from both heat injury
perspective and toxicity exposure potential. We do not know for sure if the
carcinogenic exposures from low dose regular exposures or from high dose
“events” are more dangerous, but both need to be studied as separate
situations, not as an average.

66. We urge your team to focus the study resources on primary
measurements made in high use scenarios on hot days, and refrain
from the approach used in earlier studies that look at chemical
compositions during winter or rain conditions on limited number of fields.

67. The only reliable way to assess the risk to children from a particular
field, or groups of fields, is to look at their direct exposures, and
importantly look at bloodlevels of the known substances. Cooperation from
both high use athletes and those exposed to chronic levels of materials will
be important.

68. The Study Needs To Focus Also On Low Dose Exposure Risks
Trained immunotoxicologists look at the impacts of chronic low dose
exposures to metals, PAHs, VOCs and many other materials in tire
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crumb. Their input is crucial to understanding risk of exposure in a
developing child.

69. Characterization Mistakes
Studies look convincing, but miss the forest for the trees.
Tire recycling and tire crumb industry reports are quick to point out that
when they find harmful materials in their samples, they are under the
known safety limits. There are two interesting fallacies in that reasoning.

First, since the samples in several studies are few and not uniform, they fail
to acknowledge the statistical significance of finding known regulated toxic
material in 2 million pounds of powdered tires… if one finds the needle, is it
luck, or is it because needles are more prevalent than expected?

Proof of presence is meaningful! For example, in the NY Study, PAHs were
found, as were metals, benzothiazoles, and many substances. Their
presence indicates a risk.

In a child’s product, since many materials are not known how they affect
children, just knowing they are there is enough to use a precautionary
principle and prevent the exposure. Arguing that the materials appear
under a limit (especially if that quantity is an average of multiple samples),
or there is no established limit (because it has not been studied), are not as
meaningful as the proof of their presence.

Second, though the conclusions of the industry reports may be of no harm
found/safety, a close look at the data itself on PAHs, lead, cobalt,
chromium, etc. is useful, since a) it proves presence, and b) at levels that
suggest risk for chronic exposure. Chronic exposure risk is the subject of
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a great deal of new cancer research, and we care about all the materials,
including those which are potentially toxic.

70. ARGUMENT FOR MORATORIUM BASED ON KNOWN
CHARACTERIZATION FOR TIRE CRUMB
Because of the:
a. known loss of 1-30 tons of material from the fields during the 8-10
year “life of the field” into air and water
b. ingredients list: over 50% of its components are known carcinogens
and pathogens, [cite Yale Study]
c. massive scope and scale of this product, (the amount of material and
surface area of these fields is enormous; scale/millions of pounds in
each installation),
d. inability to control the levels of toxic exposure to children, or even
properly characterize them due to immense variation and chemical
complexity of what happens on a hot day over a field, and around
children. We cannot suggest mitigation strategies for the danger,
because the material is inconsistent,
e. Even if we did know for sure what was in each field, and suggest
mitigation techniques and protections…. All the tire company has to
do is change their recipe, or many recipes, as they do continually,
and the study is worthless. Children are still being exposed to
whatever is in the tire, the lot or that particular field..
71. Moving Target Analogy
Even if the study were completely successful, and the tire crumb material
categorized properly, the trouble is, tire manufacturers could change the
“recipe” for tires… and in fact they do this regularly… and the study results
will be useless, or at best, diminish in usefulness.
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Any attempt to study tire crumb safety on turf fields is analogous to trying
to hit a moving target. Tire crumb is a waste product. Tires are not
designed or intended to be used as infill for turf fields.
Ingestion, inhalation and absorption of fine particulate by children is not a
consideration of tire manufacturers as they choose chemicals and
compounds for their tires. Nor are they bound to maintain any safety
considerations for such use by children.
So any study of present day tire crumb is a futile endeavor, because such
study tells us nothing about a field that gets installed immediately after the
study. Tire manufacturers often change the chemical composition of tires
and will likely do so again.
Even if a field passed safely concerns in a present day study, a new field
could easily fail a hypothetical study conducted the day after the present
study. So unless every field was tested using the exact same methodology
after every installation, there is absolutely no way to assure the user that
their new field is safe. Those new fields could easily have an entirely
different chemical composition simply because tire manufacturers changed
their tire ingredients.
So the present Federal Study is only a backwards looking study, not
forward looking. Any conclusion must be transparent and clear on that
issue - upfront and center. Otherwise the public is being misled into a false
sense of security.
72. Sampling: Not Appropriate For Tire Crumb
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The core pediatric toxicology problem in industry based safety studies, is
that there appears to be an assumption that tire crumb is a uniform
material, and behaves uniformly. It does not. There also appears to be an
assumption that sampling will be an accurate method for studying tire
crumb risk to children, and it is not. Sampling will not be accurate to
assess a nonuniform, heterogeneous material with multiple known
toxic ingredients, high direct contact (dermal, hand to mouth,
breathing zone) for pediatric use. Sampling cannot produce a single
sample that is representative of the whole field, or even a part of the
field, other than the sample itself.

73. Methodology needs to study PERFECT STORM exposure
conditions, and be able to calculate exposures during those relatively
dangerous days.

Nor can sampling in the way it is proposed (samples from 40 fields across
the US), illustrate impacts from a perfect storm of exposure conditions on a
particular field, say, during an intense soccer camp in in summer in
Washington, DC with high ambient and field surface temperatures (ie
160F), bad air quality, no wind, when working athletes are breathing in
particulate with high VOC, PAH, benzothiazoles, and carbon black… and
many more compounds, on a particularly high yield day. Averages cannot
be relied upon in sampling for this type of product, since they will further
obscure the risk from exposures to hot spots of high risk material that are
on fields. Averaging the results from a national distribution in various
weather conditions simply obscures the acute risks further; it is useless for
risk analysis. In layman’s terms, it is like studying a forest using “x”
number samples, but missing the forest fire that is blazing away at a nearby
area of the park. For a child, it means that she plays on a field that was
called “SAFE TO PLAY”, after sampling, but in fact she might easily have
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been covered with multiple materials known to cause cancer, and in fact,
that might be a regular event. The uncertainty of exposure frequency
makes the risk higher, not less.
74. The core of the methodology used in the 50 studies asserted by
the tire recycling industry were based on simple characterization of a
single sample, but not on realistic, combined, nor worst case (the most
important) use scenarios.
75. Multiple carcinogen and multiple pathogen combined effects need
to be measured. Single material measurements could be only a fraction of
the exposures, since the material exposures are likely to be from
combinations of materials.
76. BIOMONITORING FRONT AND CENTER
Because sampling presents inconclusive results, a methodology that relies
on biomontioring will be more meaningful. We suggest that more
sophisticated approach be considered. Personal sampling monitors
attached to children, dermal, urine, breathing analyses, and particularly,
blood and tissue samples from frequent users, players on “Perfect Storm
Days” and those expected to have chronic low dose exposures. We
understand that biomonitoring raises more issues, but absent a good
model, empirical data is the most reliable way to accumulate actual
evidence of exposures and to be able to establish a reliable causal link to
the cancers and diseases we predict from exposures.
77. IMMUNOTOXICOLOGY SUPPORT: RECRUIT THE BEST PEDIATRIC
IMMUNOTOXICOLOGISTS AND RESEARCHERS. Some researchers and
epidemiological professionals are already on the trail of better ways to
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identify actual exposures, and can create biomarker groups as indicators of
presence of illness or exposures. These researchers have background in
immunological toxicology, and can track subtle changes in an immune
system that might be precursors to serious disease, like cancer, kidney
disease, brain changes, and lung disease. It is possible to create biomarker
group to prove tire crumb exposures in users and we believe that the
preliminary proof of concept step could be accomplished in less than 6
months with cooperative athletes, and study volunteers, and modest
budget. While we will not list them here, for protection of their privacy and
frankly, for fear of industry retribution, we will nonetheless let you know
that we have found multiple professionals who are capable and willing to
work on this task, provided a protective forum and IRB standards are in
place.
78. Immunotoxicology support: look carefully at the ages those
immune system markers in all children who are using these fields,
understanding that some metabolic types, and ages may be more
vulnerable than others. In fact, there are early indications that certain
age groups, such as prepubescent females (age 8-11), may be more
vulnerable to exposures to benzothiazoles, plastics, phthalates, and
endocrine disruptors in general, and therefore might be at higher risk to
contract cancer or disease from low dose particulate exposures from
tirecrumb, and the plastic “grass” carpet particulate. We need to establish
the datum from players to study this. We still do not know, but some
indications exist. For that reason, we respectfully request that the study
team include toxicologists and epidemiologists that are trained to keep
these concepts front and center.
79. LOW DOSE EXPOSURE CONCEPTS and CONCERNS

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Based on what we know now about low dose exposures to VOCs, PAHs,
benzothaizoles, styrenes, carbon black, plastics, plasticizers, and metals,
even at low, sub acute exposures, the fields could be very dangerous. That
possibility was not considered in the CPSC study, EPA study, nor in
mulitiple industry studies. These need to be assessed:


Chronic exposure to metals, plastics and plasticizers



Chronic exposure to carbon black mimics air pollution exposures



Immune system reactions



Endocrine disruption exposures from plasticizers and phthalates,



Exposures from multiple low doses and chronic exposures

80. The study should calculate yield of material that leaves the fields,
and how it leaves the fields. How much in the air , water pathways,
and with users (in shoes, cars, etc.) Interviews with schools and
vendors need to establish the replacement quantities of these fields,
and how often new material is put into place, since it would affect
exposures, and give an indication of gross yields. We estimate that the
fields lose from 1-30 tons (estimated) of material, so exposures and
impacts need to be measured in adjacent buildings, soils, and
stormwater systems. With 12,000 existing facilities, this may need to
be the subject of additional studies conducted to also assess if the
fields shall be regulated as point source contamination under Clean
Water Act and Clean Air Act. It is a very important metric, and a
perfect opportunity to include it, with little incremental cost, in your
study.

81. INTEGRITY STANDARDS. To track the history of the emergence of this
product is to track effective lobbying for regulation changes that favored
the tire industry, and the tire recycling industry. This industry took
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advantage of an enormous quantity of recalled and used tire stockpiles, and
heavily sold and marketed the materials to schools, and sports centers
where millions of children play. Central to the steps that catapulted this
industry forward was the removal of the designation of artificial turf fields
as children’s products, based on the rationale that adults played on them,
too. Yet the fields continue to be sold to elementary schools and to sports
centers brimming with elementary, middle and high school players. The
sales oriented industry was willing to submit children, schools and
communities to the materials in tires in enormous amounts, and call them
safe. As this claim is deeply questioned now, we also urge you to NOT
allow the sampling or data collection to be conducted by an interested
party, including schools, sports centers, athletic group personnel or
administrators, field installers or laboratories or consultants hired by
those groups, and establish peer reviewed standards for testing.
82. Any group or individual who does participate in the study,
including regulatory staff, needs to sign an affidavit certifying that she
or he, and her/his group has not received compensation or benefits in
any form, including but not limited to sales commissions, direct
payment, compensation, bonuses, grass to artificial turf grant, field
financing, water savings rebates (State of California and possibly
others), or physical benefits including but not limited to uniforms,
facility enhancements (restrooms, concession stands, parking lots,
storage facilities, etc.), stadium components, or field equipment of
any sort, from the field installers or tire crumb field industry and its
assigns, and has no financial conflict of interest. The document
should be filed with an appropriate agency and made public.
83. We ask for full transparency on all parts of the study process for
parents, interested parties, and schools.
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OUR REQUESTS TO ASTDR/CDC/CPSC/EPA
Request
1. Regulate tire crumb and rubber mulch as children’s product

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Background
PEER filed formal request;
12,000 fields x 30,000 tires is the
amount of existing material in
children’s use; see table A for
details on volumes and surface area
sizes, children/schools. Known
carcinogenic material and known

contact.
2. Remove “safe to play, safe to install” or any other references that imply safety from all
EPA, CPSC and CDC websites and public information sources
3. Place all PEER artificial turf filings in Federal Record

PEER Formal Request; agencies
must remove all endorsements of
safety.
http://www.peer.org/campaigns/p
ublic-health/artificial-turf/newsreleases.html

4. Issue a directive to public health agencies to disseminate warnings regarding unknown
risks from lead exposure from AT fields, as well as exposures to carbon black, known
carcinogens, PAH, VOCs into air and water pathways; direct hospital systems and medical
systems to screen for tire crumb field use, and report results
5. Use only independent lab or consultants unassociated with tirecrumb industry, adhering
to high ethics guidelines; transparent process for review; affidavit of no conflict of interest
6. Commission a primary study, conducted by independent, peer reviewed group such as
CDC to examine existing cancers AND illness in tire crumb field users and maintenance
workers of tire crumb fields
7. Mandate Cal Recycle Study corrections to methodology; mandate methodology peer
review; and mandate to impose Prop 65 rule based on OEHHA’s own findings on
carcinogenic exposure
8. Convene a conference for presentation of risks and concerns from parent groups, cancer
survivors to Federal Research Team

For parents, schools, athletic groups,
and communities; conduct parent
outreach webinars

Needs participation from
CDC/CPSC/EPA staff so parents
and public can have direct contact

9. Convene series of webinars and open comment opportunities
10. Allow public health and environmental advocacy groups in Federal Research Team
with complete transparency
11. Establish a collection point for recording experience of victims and those who may
have suffered injury from use of the fields, including heat injury, concussion or head
trauma, cognitive disorder, illness, and cancer for study and documentation; victim
hotline; for both child and adult contact with fields
12. Funding to identify potential biomarkers of exposure; conclusive marker study in users
13. Conduct blood monitoring and studies on existing cancer survivors.
14. Conduct cancer cluster study on soccer player cluster, and identify additional clusters
such as maintenance workers and installers
15. Provide full transparency with all interested parties
16. Conduct full epidemiological study of tire crumb on playfields existing and predictive
17. Study forms and questionnaires should include data collection on what is released
from fields into air, adjacent areas, water pathways, and quantified. Replacement
quantities for tire crumb fields should be quantified and examined as a metric that
indicates yield.
18. Based on release/yield figures, and other inputs, tire crumb fields should be evaluated
for compliance with Clean Water Act and Clean Air Act, and regulated accordingly.
19. We request that OEHHA study methodology be peer reviewed by your agencies
before it begins, taking into account the comments received in this proceeding.
20. OEHHA Study Process and Methodology Concerns: How will those be considered?
21. Consider explicit protection from retribution steps be put in place to protect
researchers, players, and concerned parents from retribution

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