August 16, 2018. We oppose the EPA’s proposed “problem formulations” because they would not adequately evaluate exposure, harm or risk. They would exclude many of the uses, exposures, and hazards that would have been included in the risk evaluations that were planned as part of the scoping documents.
Read More »On Health Policy
NCHR Comments to EPA on Principles to Applying Systematic Review in TSCA Risk Evaluations
August 16, 2018. Protecting the public health requires that EPA’s draft guidance for applying a systematic review process for risk evaluations is scientifically valid, reliable, and accepted by the scientific community. It should consider the totality of the scientific evidence without often irrelevant or industry-centric requirements that would reduce the impact of high quality sources or exclude them.
Read More »Comments on FDA’s Limited Population Pathway for Antibacterial and Antifungal Drugs
August 13, 2018. Everyone agrees that there is a need to develop new antimicrobials to treat serious or life-threatening infections. The only way to make sure that new drugs are safe and effective is by requiring well-designed and valid clinical trials.
Read More »Letter to Members of Congress Opposing the “Accurate Labels Act”
July 11, 2018. We urge you to oppose this dangerous family-unfriendly legislation that: undermines the health of the American public; eliminates states’ existing ability to inform their citizens about the ingredients of products and the dangers that they may pose; and keeps Americans in the dark about the products they bring into their homes.
Read More »Letter from Nonprofits to DC Mayor and Other Officials About Dangers of Artificial Turf and Playgrounds
July 10, 2018. DC Nonprofits write to DC Officials about the dangers of artificial turf and playgrounds. Both environmental and health concerns are discussed, and officials are advised to stop the usage of this kind of turf around children.
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