![]() |
|||||||||||||||||||||||||||||||||||||
|
|||||||||||||||||||||||||||||||||||||
|
Validation
The government-sanctioned process in the U.S. for validating new test methods, test methods with new endpoints, and test methods with cross-agency application is through the Interagency Coordinating Committee for the Validation of Alternative Methods (ICCVAM). The ICCVAM Authorization Act of 2000 requires that every federal agency carrying out a program that prescribes or recommends toxicological testing ensure that any new or revised acute or chronic test method, including animal test methods and alternatives, is determined to be valid for its proposed use before requiring, recommending, or encouraging the application of such test method. The EPA is attempting to circumvent ICCVAM validation of animal-based test methods in the EDSP by conducting in-house reviews that it describes as ICCVAM-like. Perhaps a better description is ICCVAM-lite since the agency is looking to conduct a rushed and superficial procedure in a fraction of the time that a legitimate ICCVAM validation effort would require. In March of 2000, the Advisory Committee on Alternative Toxicological Methods (ACATM) for the National Toxicology Program recommended unanimously that all test methods being considered in the EDSP should be validated through ICCVAM. Although the EPA does indeed require all non-animal tests to be validated through ICCVAM with very rigorous and thorough standards, it plans to follow a double standard by not requiring ICCVAM validation of animal tests. In November of 2000, the ACATM reiterated its position even more strongly with the following unanimous motion:
In one of its animal welfare factsheets, the EPA states: Scientific validation is an essential step in determining the adequacy of new alternative test methods. Why is rigorous validation so important to the EPA for non-animal tests but so unnecessary for the animal tests? As the chair of the European Commission for the Validation of Alternative Methods has written about the EDSP: "It has even been said that the validation phase of the new test development and acceptance sequence should be applied flexibly in this situation because of the [time] pressure being applied by the U.S. Congress. How can there possibly be flexibility about whether or not methods are reliable and relevant and about what they should be used for? What would be the value of the data such tests would provide, and with what confidence could they be applied in making decisions?" The EPAs refusal to hold animal tests to the same validity standards as non-animal tests will render the EDSP test results invalid. Not only will animals lives be lostso, too, will any semblance of scientific integrity in the program. The EPA will be without the applicable data needed to prompt regulatory action for the tangible protection of human health and the environment. In other words, after millions of animals have been killed in laboratories, we will be no closer to actually reducing emissions of hazardous chemicals and protecting our environment. |
|
| ||||||||||||||||||||||||||||||||||