Foundation docs Optimisation; Dose to Individual


Draft document: Foundation docs Optimisation; Dose to Individual
Submitted by Janice Milne, Scottish Environment Protection Agency (SEPA)
Commenting on behalf of the organisation

Assessing dose to the representative individual SEPA welcomes the opportunity to comment on the Commission’s draft document on ‘Assessing dose to the representative individual’ used as supporting material for the draft ICRP 2005 recommendations. In any further consultation, we would urge the Commission to ensure that all stakeholders are provided with the means to engage fully. A useful model for relaying technical information to audiences with various levels of awareness of specific issues is that developed by the organisation ‘GreenFacts’ (http://www.greenfacts.org). GreenFacts provides an information and educational website on environmental issues in which the information is presented in several layers, beginning with the most basic description of the issue where terminology is defined, and progressively including more technical information within each of the subsequent layers. We believe this format provides a valuable approach for information provision that acknowledges the different needs of stakeholders. SEPA undertakes assessments to determine dose prospectively and retrospectively, the units for these assessments are, respectively, the dose constraint and the dose limit. Consistent use of these terms throughout the document would increase ability of the audience to comprehend the assessment being discussed. This document is likely to generate confusion over current understanding of the distinction between statutory limits, and constraints As a regulator SEPA would welcome guidance from the ICRP on the appropriateness of assessing uncertainty in dose assessment. Such guidance would ensure comparability for assessments undertaken by different organisations. A potential contradiction exists between paragraph 47 and 51 on this matter. SEPA would agree that the representative individual assessed for radiological protection purposes should be representative of the most highly exposed individuals in the population. There appears to be conflict in this approach in paragraph 63 which states that “Established databases suggest that the 95th percentile of consumption rates for many staple tend to exceed the mean value of the distribution by approximately a factor of 3. Therefore, with deterministic methods, using the 95th percentile of behaviour is considered to represent a cautious, but acceptable, assumption for defining a reasonable and sustainable intake rate”. SEPA would welcome clarity on the intended meaning of this phase and its relationship to paragraph 53. It is the view of SEPA that specific habit data can identify unique local activities which have the potential to become the critical group (such as the consumers of sea mice near Sellafield). Such habits can vary from site to site as does the potential exposure. Dilution of this variation in using generic national or regional information can lead to the omission of the critical group from an assessment and may allow failure to detect the most exposed group – the representative individual. As a public body committed to openness and transparency, SEPA feels it is appropriate that this response be placed on the public record. If you require further clarification on any aspect of this correspondence, please contact Paul Dale, SEPA Corporate Office, at the address shown below. Yours faithfully Janice Milne Head of Environmental Policy


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