Mr. John Mullins,
CEO Bord Gais
& Irish Water
Cc: Mr. Enda Kenny T.D. Department of Taoiseach
Mr.
Fergus O Dowd T.D. Minister for NewEra
Dr.
James Reilly T.D. Minister for Health
Mr.
Phil Hogan T.D. Minister for Environment
Mr.
Simon Coveney T.D. Minister for Agriculture, Food & Marine
26TH April 2012
Dear Mr. John
Mullins
I wish to
congratulate your company in successfully being appointed by the Government of
Ireland to manage Irish Water and wish you every success in bringing our water
services into the 21st century and in line with every other EU
Member State.
In the manner of
future management of Irish Water, I wish to offer some professional advice on
how Irish Water may save tens of millions in the management and operation of
this service, while ensuring full compliance with EU Law and importantly
satisfying the needs and health requirements of your customers. Apart from the obvious engineering
challenges in managing and developing
this new entity there are
numerous legislative matters that remain to be addressed by the State and Irish
water in the provision of safe drinking water fit for human consumption.
One of the major
legal and liability issues that Irish Water will have to urgently address is
that of artificial fluoridation of drinking water with silicofluoride chemicals
and the rights of individuals to the provision of safe drinking water. For the
past forty plus years, unique to Ireland within the EU, the management of public
drinking water supplies form part of a Government medical intervention
programme that consumers have not consented to. In addition consumers have not been
provided with information informing them of the negative side effects of consuming
artificial fluoridated drinking water supplies. Furthermore the State has not
tested the chemicals administered in drinking water to meet the minimum
requirements of EU legislation for protection of public health or the
environment.
As you may know,
no other EU member state supports the mandatory legislative fluoridation of
water and Ireland is the only country not just in the EU, but in Euro-Asia that
continues to fluoridate its drinking water supplies. This practice has been
found to unnecessary, unsafe, environmentally damaging and unsustainable.
It is accepted and
acknowledged by the EU Commission that the chemicals used for fluoridation of
water in Ireland have never been tested for human toxicity or environmental
safety. Despite this, there are enormous volumes of scientific research that now
demonstrate beyond any reasonable doubt that water fluoridation is harmful to
subgroups of the population including infants under 2 years of age and
diabetics, whose kidneys are unable to remove fluoride from blood plasma and
who are therefore most at risk of chronic fluoride poisoning resulting in both
dental fluorosis and musculoskeletal chronic pain. Both these medical
conditions are now endemic within the population of Ireland.
The most recent
international reviews of water fluoridation by the NHS in England, the National
Research Council in the United States and the EU Scientific committees for Food
Safety and Consumer protection have all agreed that there is insufficient
scientific evidence to demonstrate that water fluoridation is safe and have identified
that there is a complete lack of toxicological data on the human or
environmental toxicity of silicofluoride chemicals used for fluoridation of
water. This is one of the reasons
why every other European State has taken the ‘precautionary approach’ to water
management, this approach is legally enshrined in the EU Constitution.
Prior to taking
over the responsibilities of provision of drinking water services in Ireland, I
would advise that Irish Water review the contents of my report examining the Human
Toxicity, Environmental Impacts and Legal Implications of Water
Fluoridation. This report has been
presented to the Government of Ireland, the EU Parliament, the EU Commission,
the EU Environment Agency, the World Health Organisation as well as the Medical
Councils of Ireland and the United Kingdom, the EPA, Inland Fisheries, and many
other public and private sector bodies.
As I have outlined
in a recent communication to Minister Fergus O Dowd, in the event that the
State continues to insist on fluoridation of drinking water, contrary to the
recommendations of the EU and in clear violation of EU and international Law,
the State will need to indemnify Irish Water from any liabilities that may
result from cases being taken against the State or their agents in the future.
The most recent
occasion that the State accepted such liabilities was for the swine flu
vaccination. As you may know the pharmaceutical company that provided this
product would not accept responsibility for any potential adverse effects and
required the State to indemnify it from any potential lawsuits. Parents were
subsequently told by the HSE that the vaccine was safe and now the State is
facing multiple legal cases due to children developing the sleeping disorder
narcolepsy as a consequence of being administered this vaccine. Another example
is where the State sold Haulbowline to ISPAT in 1995 and informed that company
that the site complied with environmental laws and that there was no
contamination on the site. The State is now facing a multi-million euro clean-up
operation to remedy the historical environmental liabilities associated with
this site.
Apart from the
legislative matters that will need to be addressed by Irish Water, as noted in
my report, there is also the matter of how Irish Water will deal with
households that purchase bottled water for consumption in the home, in order to
avoid the toxicological health risks associated with fluoride.
The World Health
Organization has stated explicitly that "in the assessment of the safety
of a water supply with respect to the fluoride concentration, the total daily
fluoride intake by the individual must be considered." This can only be
accurately carried out on an individual patient based on age, weight, fluid
intake, dietary preferences, level of exercise and nutritional needs. It is now absolutely clear that
the ingestion of excessive amounts of fluoride has become a serious public
health problem, particularly in fluoridated communities, because of dietary
intake of fluoridated water, in addition to processed food, cooked food and
beverages which are made up from fluoridated water as well as other
anthropogenic sources of fluoride in foodstuffs from residues of fluoridated
pesticides, herbicides, fumigants and fluoride-based fertilizers. If total
dietary intake is to be examined one must also include other major sources of
fluoride from dental hygiene products such as toothpaste or mouthwashes to
fluoride-based pharmaceutical medication. Astonishingly in Ireland, despite the
concerns expressed globally by public health and food authorities, the
Department of Health or the Food Safety Authority have yet to develop a
national database of fluoride in beverages and foods or to commence at a most
basic level an assessment of the dietary fluoride exposure of the general
population. In the absence of this basic information, fluoridation of drinking
water is not recommended and must be discontinued immediately.
The public health
risks associated with fluoridation of water supplies have been highlighted by
no less than fourteen Nobel Prize winners in chemistry and medicine who have
publicly denounced the policy of fluoridation of water. In comparison not one Nobel laureate
has publicly supported this policy. In addition thousands of scientists, dentists,
academics and other professionals worldwide have signed a petition to end this
unnecessary and dangerous practice.
No other European nation supports the mandatory fluoridation of its
citizens yet for some reason fluoridation of drinking water supplies remains
enforced in Ireland and the authorities continue to misrepresent both the
dangers and degree of international support for such a controversial policy.
At a most basic
level it is unconscionable how the Department of Health could continue to support
such a policy when there is a complete lack of accurate data or scientific
evidence to support its continued use, as has been demonstrated in the findings
of the NHS York Review, the National Research Council of the United States of
America Review and the various and numerous scientific committees of member
European states, in addition to the most recent findings of the European
Commission and its agencies. Any
such support is even more questionable when state-funding is being cut from so
many essential and vital public health services, including emergency services,
mental health and special needs. It is obvious that the overall finances needed
to cover the operational budget and management of water fluoridation could be
better directed to support preventative healthcare or emergency services and to
achieving greater success in behavioural change within society on dental
hygiene that would provide far more effective, safer, sustainable and
beneficial in the long-term. The annual budget for secretarial services for the
Forum for Fluoridation (€400,000) combined with the cost of silicafluoride
chemicals (€4,700,000), supervision, training and auditing costs (estimated at
€10,000,000), combined with equipment maintenance, overheads, insurance and
pollution prevention costs could be most obviously redirected to providing more
public health dentists for those in most need of dental treatment especially in
socially deprived areas and, in particular, to supporting breastfeeding
initiatives for mothers and babies within these communities, which would go a
long way to reducing the prevalence of dental fluorosis amongst children. For
example in 2008, it was estimated by the UK Department of Health (DOH) that the
cost of implementation of fluoridation of water for the greater Manchester area
alone would be up to £100million. Ultimately the DOH did not pursue this
policy; one of the reasons noted was that it was not deemed to be cost
effective.
As I discussed in
my report, a legal court in Europe has already found that water fluoridation is
defined as medication and refused therefore to sanction its implementation. Consumers and parents have a legal
right to informed choice and bodily integrity that includes the right to limit
their bodily exposure to the toxin fluoride. This cannot be achieved with the
mandatory artificial fluoridation of public drinking water supplies without
offering alternative non fluoridated public water to each household in Ireland.
One would hope and
believe that given the enormous potential implications for public health of
using untested chemicals for the systemic medication of a population, that the
Health Authorities would veer on the side of caution and follow a precautionary
approach rather than wait to have the risks confirmed which is the approach the
HSE is currently following. You may be unaware
that both the EU and U.S scientific reviews of fluoridation identified
additional epidemiology, toxicology, clinical medicine and environmental
exposure assessments that require to be undertaken in order to fill data gaps
in the hazard profile, the health effects and the exposure assessment of
silicafluoride compounds. For your
information Chapter 16 of my report lists a minimum of fifty-nine recommended
studies required to be undertaken on fluoridation compounds to quantify the
public health risks from fluoridation of drinking water supplies as recommended
by these international scientific bodies. Not one of these studies has been
conducted by the Health Authorities in Ireland.
Clearly, therefore
given the scientific uncertainties presented by international scientific
committees regarding the health risks from fluoridation of water, the
acknowledged inadequate risk assessments and that every other European country
has ended the practice of fluoridation of drinking water supplies; in addition,
that the Russia Academy of Sciences, the British Medical Research Council, the
NHS York Review, the U.S.A Academy of Sciences and European Commission as well
as other esteemed scientific bodies, have also detailed their concerns
regarding fluoridation, Irish Water must surely therefore take a precautionary
stance and request an end to this unnecessary and unlawful policy in line with
our European neighbours.
One would believe
that this is the most appropriate and only course of action to take until
comprehensive scientific toxicological and ecological risk assessments are
completed, as recommended by the NRC and other scientific bodies (details
provided in my report), in addition to completion of accurate health
surveillance epidemiological studies examining the total dietary fluoride intake of the
population as recommended by the WHO to determine their current exposure to
fluorides as well as the co-toxicity of fluorides with other known contaminants
such as aluminium and lead.
It is advisable
therefore in the interests of public health and safety and in accordance with
the precautionary principle that is enshrined in European law, as well as in accordance with appropriate
EU Directives, that Irish Water seek an immediate cessation to the water
fluoridation policy until human health risk assessments have been completed by
the Irish Authorities that demonstrate beyond any reasonable doubt that the
chemical compounds used for fluoridation of water are safe for human
consumption for all sectors of our community particularly the most sensitive
groups including infants and diabetics. Furthermore in accordance with EU Law
the regulatory authorities must clearly demonstrate that the anthropogenic
fluoride emissions from wastewater treatment plants resulting from artificial
water fluoridation do not impact on the environment, food safety or fisheries
and comply with all relevant EU legislation. Evidence to demonstrate this must
be provided by the regulatory authorities. To date no such evidence has been
provided. There is a requirement in EU law that the implementation of
fluoridation of drinking water-supplies requires an environmental impact
assessment. No such study has been undertaken despite fluoride being discharged
in significant volumes into over 120 salmonid rivers in Ireland. Since the
commencement of water fluoridation in excess of 75,000 tonnes of fluoride has
been discharged into rivers and estuaries in Ireland. The EPA have found that
fluoride is a persistent toxin in freshwater ecosystems, fluoride is also known
to be harmful to juvenile salmon and trout at concentrations significantly
below those currently discharged from wastewater treatment facilities as a
consequence of fluoridation of water. It is incredible that 99.5% of
fluoridated water is not used for the purpose if was intended and is discharged
into the environment as an environmental toxin. This is nothing short of
disgraceful.
On the matter of
legal liability it is most likely that Irish Water will face a number of legal
challenges should fluoridation of drinking water continue into the future. This
may involve class action lawsuits by parents on behalf of their children or by
individuals such as diabetics amongst others whose health and physical
wellbeing has been compromised by drinking fluoridated water. It may also
involve environmental organisations, or the EU itself, taking legal proceedings
against the State for non-compliance with EU law, in particular the protection
of consumer safety or biodiversity protection. Further legal liability may
arise from the food industry whose produce becomes contaminated with fluoride
when it is washed, cooked or processed using fluoridated water. The most
obvious risk here is the food industry which produces infant foods and formula
milk as well as the organic food sector.
There are obviously additional risks for the food production sector
exporting produce into markets that have banned the use of silicofluorides,
which includes all of mainland Europe as well as China, the principle emerging
market for Ireland. China as you may know banned the fluoridation of water in
the 1980’s due their scientists finding that fluoride was a neurotoxin that
inhibited cognitive development in children.
Finally there is
also a risk of legal liability in the future from another major industry in
Ireland which is the horse breeding and racing industry due to the findings of
Cornell University in the U.S.A who found that fluoridated water causes chronic
fluoride poisoning in horses where they are provided with fluoridated water as
their source of daily water. Research has also demonstrated that the bones of
yearling horses are more susceptible to breakages if the source of drinking
water is fluoridated. As with
humans, this is due to the effect of fluoride on bone density and composition.
In humans fluoride exposure also results in increased risk of hip and bone
fractures as well as osteoporosis. According to Professor O Brien of Trinity
College Dublin each year in Ireland approximately 60,000 hip fractures occur on
an annual basis in Ireland. Furthermore some 500 of such individuals on average
prematurely die due to post operation medical complications as a result of
fracturing their hip. It is now known that fluoridation of drinking is a
contributory risk factor to weakening the hip bone thereby increasing the risk
of breakages. Clearly it is only logical and ethical correct that any substance
that may contribute to ill-health amongst the community should not be added to
public drinking water and it is incumbent on the current Government to end this
policy forthwith not just to protect its citizens from risk but to protect the
Exchequer from future liability.
The United States
Public Health Service has identified that within the wider population postmenopausal
women and elderly men, pregnant woman and their foetuses, bottle fed infants
and people with deficiencies of calcium, magnesium and/or Vitamin C, as well as
people with cardiovascular and kidney problems are most susceptible to fluoride
exposure and the biological impact of fluoride on their health and wellbeing.
Currently in
Ireland there are approximately 400,000 people who are diabetics alone as
representative of just one sector of this overall group. The question must be
asked, how will Irish Water address the future liability that will arise from
this or other subgroups of the population that may refuse to pay for
fluoridated water or seek damages from the State for contributing to their
ill-health?
How will Irish Water
address the tens of thousands of existing households who may seek financial
compensation from the State (as provided by EU law) for having to remove
fluoride, a developmental neurotoxin, from their drinking water supply, in
order to provide potable safe non fluoridated drinking water for infants and
sensitive subgroups of the population, as is recommended by international
scientific bodies in?
In ending, the
most obvious and prudent manner in which to address situation is for the State
or its agents to end the policy of fluoridation of water, as Switzerland did in
2003 (that last mainland European country to do so) and as the leading party of
Government Fine Gael committed to doing in 2000. Public policy like science
should be constantly evolving; clearly this policy must now end based on
current scientific understanding or the potential and known health risks to the
population and the environment. Failure to do so in light of recent scientific
findings would be criminally negligent.
I hope that Irish
Water will examine these concerns and conclude as every other European nation
State has done, that it is best to leave water fluoridation in the 20th
century where it belongs.
Wishing you every
success in your future endeavours with Irish Water.
Yours sincerely
Declan Waugh
EnviroManagement Services
Risk Management, Environmental Auditor and
Environmental Consultant
1 comment:
A great read Declan. Thanks.
Looking forward to some clean water some day :)
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