Commonly used organophosphate pesticides are present
in urban stormwater runoff and are responsible for toxicity to
aquatic life in receiving water bodies. But as these pesticides are
phased out and replaced with others, the lack of thorough evaluation
techniques leads to a "pesticide
roulette."
By G. Fred
Lee

The organophosphate
(OP) pesticides diazinon and chlorpyrifos are commonly used in
residential areas to control termites, ants, and lawn and garden
pests. In some counties in the United States, more than 100,000 lb.
of active ingredient diazinon and chlorpyrifos are used each year on
residential properties (Lee and Taylor, 1997). USEPA estimates that
nonagricultural use of OP pesticides totals 17 million lb. per year,
and agricultural use accounts for another 60 million lb. (USEPA,
1999). Urban stormwater runoff in
several California cities and in Fort Worth, TX, has been found to
be toxic to zooplankton including Ceriodaphnia dubia (Waller
et al., 1995). Although it was initially suggested that this
toxicity was the result of heavy metals in the stormwater runoff, it
has been repeatedly demonstrated that the toxicity is caused instead
by diazinon and chlorpyrifos (Hansen & Associates, 1995; Lee and
Taylor, 1999). Based on pesticide-use patterns, it appears that
aquatic-life toxicity caused by OP pesticides in urban stormwater is
a national problem not generally
recognized. Toxicity is a violation of the
narrative water-quality standard, which requires that no toxics be
present in toxic amounts. It has caused some regulatory agencies to
list some receiving waters for urban stormwater runoff as impaired
water bodies under section 303(d) of the Clean Water Act (CWA). This
listing, in turn, requires that total maximum daily loads (TMDLs) be
developed to control the concentrations of diazinon and
chlorpyrifos. While TMDL development is an important - and sometimes
controversial - issue, other health and safety issues are now
beginning to overtake it. For example, the effect of chlorpyrifos
(commonly sold under the brand name Dursban) on children’s health is
currently in question, and chlorpyrifos is now being phased out for
most residential and commercial indoor and outdoor use, including in
homes, schools, parks, hospitals, retail stores, daycare centers,
and other public buildings. The phaseout will occur over several
years. Clearly, as chlorpyrifos and
other OP pesticides are phased out, the need to control termites and
other pests will not disappear, and the important question is what
to use as replacements. Many pesticides that are already registered
can be used as substitutes. There is a substantial shift away from
the use of both diazinon and chlorpyrifos toward pyrethroid
pesticides (permethrin, cypermethrin, and others) by commercial pest
control operators and the public. As discussed later in this
article, however, the EPA Office of Pesticide Programs (OPP)
registration of pesticides does not adequately evaluate the
potential for them to cause aquatic-life toxicity in urban and
agricultural stormwater runoff, and a number of the pyrethroid
pesticides are as toxic to certain zooplankton as the OP pesticides.
How
Toxic Is Toxic?
Regulating OP pesticide
- caused aquatic-life toxicity in urban stormwater runoff is
complicated by several factors. One of the most significant is that
the toxicity of the OP pesticides in urban stormwater runoff is
largely restricted to certain types of zooplankton such as
Ceriodaphnia and Mysidopsis and the amphipod
Gammarus. The concentrations of OP pesticides found in urban
stormwater runoff are typically on the order of a few hundred
nanograms per liter (ng/lit.). For comparison, the LC50
(lethal concentration) for diazinon to Ceriodaphnia is about
450 ng/lit. The LC50 for chlorpyrifos to
Ceriodaphnia is about 80 ng/lit. (See
sidebar.) Although OP pesticides are
highly toxic to Ceriodaphnia and Mysidopsis, they are
not toxic to many other types of zooplankton. At the concentrations
in which they are found in urban stormwater runoff, they are also
nontoxic to fish and algae. Thus, a question arises: Is killing
Ceriodaphnia-type zooplankton in the short-term toxic pulses
associated with stormwater runoff events significantly detrimental
to the beneficial uses of the receiving waters? Some advocates for
the continued use of OP pesticides on residential property assert
that OP pesticide toxicity is highly selective to certain types of
organisms, and these organisms are not essential components of the
aquatic food web that lead to desirable forms of aquatic life, such
as edible fish and shellfish. For the toxicity to be adverse to
these higher trophic level forms of aquatic life, the OP pesticide -
sensitive zooplankton would have to be key components of the larva
fish food at a critical period of the year. If the zooplankton are
in fact not key components of the food chain, then in terms of
beneficial use of the water body, current TMDL development goals
might be considered too stringent and overprotective. However, the
actual ecological role of the Ceriodaphnia-like organisms
killed by OP pesticides is not
known. Another complicating factor is
the difficulty in determining the cause of toxicity in some areas.
In many areas where OP pesticide - caused aquatic-life toxicity is
found, the total toxicity can largely be accounted for by the
concentrations of diazinon and chlorpyrifos. In other areas such as
Orange County, CA, however, stormwater runoff contains large amounts
of toxicity of unknown cause to Ceriodaphnia and
Mysidopsis. A four-year study of San Diego Creek as it enters
Upper Newport Bay in Orange County shows that stormwater runoff
contains 8 to 30, 24-hour acute units of Ceriodaphnia and
Mysidopsis toxicity (Lee and Taylor, 1999). Only about half
of the toxicity can be accounted for based on the concentrations of
diazinon and chlorpyrifos. The remainder is the result of
unidentified causes. Through the use of toxicity identification and
evaluation, it has been determined that this toxicity is not caused
by metals and does not appear to be caused by other commonly
measured OP and carbamate pesticides. Based on piperonyl butoxide
(PBO) activation, it appears to possibly be caused at least in part
by pyrethroid pesticides. Stormwater runoff entering Upper Newport
Bay derives from urban, agricultural, and commercial nursery
discharges, and it appears that all three sources are responsible
for some of the toxicity of unknown cause.
Determining TMDL Goals for OP
Pesticides
Considerable
controversy exists over the TMDL goal that should be used for
diazinon and chlorpyrifos. Some of the controversy stems from the
fact that EPA’s OPP requirement for control of the adverse impacts
of pesticides to nontarget organisms allows toxicity to aquatic
life, provided that this toxicity is not significantly adverse to
the beneficial uses of the water body. Although the CWA requires the
control of all aquatic-life toxicity, before the registered use of a
pesticide can be restricted, it must be shown to be significantly
adverse to public health or the environment. Because of the conflict
between the CWA (no toxics in toxic amounts) and the OPP (no
toxicity that is significantly adverse to beneficial uses), it is
not clear how aquatic-life toxicity in urban and agricultural
stormwater runoff will be
regulated. The current EPA approach for
establishing TMDL goals is to control the constituent that causes a
water body to be listed as "impaired" under section 303(d).
Typically such a listing arises because worst case - based
water-quality standards have been exceeded. Although EPA published a
water-quality criterion for chlorpyrifos in 1987, the agency did not
require states to adopt the criterion as a standard because
chlorpyrifos was not considered a "toxic"
pollutant. An EPA contractor has developed
a proposed acute criterion for diazinon, but there have been
problems in developing a chronic criterion. The California
Department of Fish and Game, using EPA criteria-development
approaches, has formulated recommended water-quality criteria for
both diazinon and chlorpyrifos (Table 1). The recommended freshwater
diazinon acute criterion (CMC) is 80 ng/lit., and the chronic
criterion (CCC) is 50 ng/lit. (Siepmann and Finlayson, 2000). The
recommended chlorpyrifos saltwater CMC is 20 ng/lit. and the CCC is
9 ng/lit. No saltwater criteria were recommended for diazinon. The
same report indicates that both diazinon and chlorpyrifos toxicities
are additive, raising the possibility that proposed TMDL goals might
actually be underprotective if they do not take additivity into
account.
Table
1. Proposed Water-Quality Criteria for Diazinon and
Chlorpyrifos
| |
Acute (1-hr.) CMC (ng/lit.)
|
Chronic (4-day) CCC (ng/lit.)
|
Ceriodaphnia LC50
|
|
Diazinon |
80 |
50 |
450 |
|
Chlorpyrifos |
20 |
14 |
80 |
Source: Siepmann and Finlayson, 2000
In a recent paper, I
provided guidance on the characteristics of a stormwater runoff
monitoring program designed to assess the magnitude of aquatic-life
toxicity, the cause of the toxicity, and the sources of the
constituents responsible (Lee, 1999). This program uses
Ceriodaphnia dubia, Pimephales promelas (fathead
minnow larvae), and Selenastrum capricornutum (algae) as the
first three test species using the EPA standard testing protocol
(Lewis et al., 1994). For marine waters, EPA’s testing procedures
are used with Mysidopsis bahia or other marine organisms as
test organisms (EPA, 1991). In addition to measuring the toxicity to
these organisms, toxicity measurements should be conducted on a
dilution series of those samples of stormwater runoff and dry
weather flow that show significant toxicity to the test organisms
within a day or two. The dilution series testing should be designed
to assess the magnitude of the toxicity in the sample. For samples
that are toxic to Ceriodaphnia, the dilution series should be
tested with and without PBO. The addition of PBO to a sample can
remove the OP pesticide - caused toxicity; therefore, if the
toxicity of the sample is eliminated or significantly reduced when
PBO is added, this is an indication that the toxicity was caused by
OP pesticides. If toxicity is found, chemical
measurements on the samples should be conducted to determine the
potential cases. The ELISA (enzyme-linked immuno-sorbent assay)
procedures are highly specific for each of the OP pesticides. ELISA
testing should be backed up by some dual column gas chromatography
(GC) or GC/mass spectrometry procedures. Further information on the
use of these procedures is available (Lee,
1999). When we find toxicity in urban
stormwater runoff, however, we should not assume that the toxicity
is significantly detrimental to the beneficial uses of the receiving
water from the runoff. The conditions of the EPA standard toxicity
test using Ceriodaphnia, Pimephales promelas, and
Selenastrum can lead to laboratory-based toxicity that is not
manifested in the field. Situations occur in which aquatic-life
toxicity caused by OP pesticides in urban streams is rapidly lost
through dilution in the receiving waters for the stream discharges.
The duration of the toxicity test can readily exceed the duration of
exposure that aquatic life can receive in an urban stormwater runoff
event. It is essential in developing TMDL goals to determine whether
aquatic life in the receiving waters experiences sufficient toxicity
for a sufficient period of time to be toxic.
Testing Before Substitution
As other types of
pesticides are used to replace OP pesticides, there is general
agreement on the need to effectively screen the substitutes
before large-scale substitution occurs. However, no formal
mechanism exists to require comprehensive evaluation of the
substitutes’ potential to cause water-quality problems. Legislative
action is urgently needed that will empower and require regulatory
agencies to properly evaluate the water-quality impacts of all
pesticides that have a potential to be present in stormwater runoff,
either urban or agricultural. Without evaluation, the public and
agricultural interests will be playing "pesticide roulette,"
substituting for one pesticide another that might cause even greater
environmental problems than the
first. Other OP pesticides, such as
propetamphos, are being used by commercial applicators to treat
residential properties in Orange County. Propetamphos is not
measured in the conventional dual-column GC scans using EPA
procedures, and this chemical could be a contributor to the toxicity
of unknown cause found in Upper Newport Bay stormwater runoff. Of
even greater concern is the use of pyrethroid pesticides, which are
sold over the counter to the public in substantial amounts and which
are as toxic, or more toxic, to aquatic life than OP pesticides are
(Table 2).
Table
2. Toxicity of Selected Pyrethroid Pesticides to Daphnia
magna and Mysidopsis bahia
|
Pesticide
|
LC50
(ng/lit.) |
|
Daphnia magna
|
Mysidopsis
bahia |
|
Permethrin
|
320
|
46
|
|
Cypermethrin
|
1,000
|
5
|
|
Fenvalerate
|
50
|
8
|
|
Bifenthrin
|
1,600
|
4
|
|
Tau Fluvalinate
|
400
|
18
|
|
Esfenvalerate
|
150
|
unknown
|
Source: USEPA OPP Ecological Database, 1999
Under the current
passive approach, pesticides are registered for use without adequate
evaluation for potential environmental impacts. Only when
substantial problems are found is the use of a pesticide restricted.
It is clear that we need to change from a passive to a proactive
approach in which pesticides that are in use today are evaluated by
water-quality management agencies. This evaluation cannot be done as
part of pesticide registration because of the tremendous pressure on
registration agencies at the federal and state levels, which
effectively precludes requiring pesticide registrants to conduct
adequate evaluation of the pesticides’ potential to cause
aquatic-life toxicity in the receiving waters for urban and
agricultural runoff. A proactive approach to
evaluating whether pesticide use in a particular region is adverse
to the beneficial uses of the receiving waters for stormwater
runoff, drainage, and discharges from areas where it is applied
involves first determining which pesticides are applied in the
region, as well as when and where. Each application area should have
an associated monitoring program of the receiving waters for the
area’s runoff. Both chemical and biological monitoring should be
conducted immediately following and for some time after pesticide
application. Monitoring should use an event-based approach,
specifically targeting stormwater runoff and discharge events when
the pesticide is most likely to be present in the discharge. To
assess potential biological impacts, a combination of aquatic-life
toxicity and aquatic organism assemblage information must be
collected. The toxicity information should not be collected only at
fixed locations downstream from the runoff location; sampling should
also be done in the runoff plume matching the transport of the water
receiving the pesticides from the point of
application. Studies of this type should be
conducted for several years associated with the use of a particular
pesticide on a particular crop at a particular location. Eventually,
if the formulation of the pesticide and its application remain the
same, the monitoring program can be significantly curtailed. As we
gain more experience, it should be possible to greatly reduce the
amount of monitoring and evaluation needed for pesticides for which
we have an adequate information base to determine that their use
poses no environmental threat.
Immediate Implications
In Orange County, about
25,000 lb. of diazinon and 75,000 lb. of chlorpyrifos are used every
year by commercial applicators for controlling termites in
residential structures (Lee and Taylor, 1999). Approximately the
same amount of OP pesticide is purchased by the public for use on
residential properties. The total amount of diazinon and
chlorpyrifos needed to cause the toxicity found in stormwater runoff
as it enters Upper Newport Bay is only about 5 lb./yr. Therefore it
is evident that most of the diazinon and chlorpyrifos used on
residential properties is not contributing to the stormwater runoff
toxicity problem. It is important to distinguish
between the two types of OP pesticide use. Typical structural use
for termite control involves injecting the pesticide into the
underground foundations of structures. This use probably does not
contribute significantly to the OP pesticide - caused aquatic-life
toxicity. The more likely cause is the aboveground application of
these pesticides for controlling lawn and garden pests.
Although studies are needed to
determine how OP and other pesticides used for residential purposes
contribute to stormwater runoff toxicity, it might be possible to
continue using OP pesticides for belowground structural pest control
for termites and ants and greatly reduce or eliminate the toxicity
associated with stormwater runoff from residential areas. As a
first-phase TMDL goal for urban stormwater runoff, it might be
enough to restrict the use of these pesticides for aboveground
applications, allowing time for testing potential replacement
pesticides for their effects on water quality.
| Toxicity
Terms |
Ceriodaphnia and Mysidopsis are
standard EPA test organisms used for evaluating the potential
toxicity of NPDES-permitted wastewater discharges and
stormwater runoff. Both organism are zooplankton that are
representative of aquatic organism that serve as larval fish
food in fresh and marine
waters. LC50
indicates the degree of acute toxicity of a substance to
aquatic organisms. Some toxicity tests measure the lethal
concentration, or LC, of a substance in water that will kill
50% of the organisms in the sample in a single dose or
exposure. The lower the LC50, the more toxic the
substance is to that organism. |
References
Hansen &
Associates. "Identification and Control of Toxicity in Storm Water
Discharges to Urban Creeks, Final Report." Prepared for Alameda
County Urban Runoff Clean Water Program, Hayward, CA. March 1995.
Lee, G.F.
"Recommended Aquatic Life Toxicity Testing Program for Urban Storm
Water Runoff." Comments submitted to E. Bromley, USEPA Region IX,
San Francisco, CA. February 1999.
Lee, G.F. and
S. Taylor. "Aquatic Life Toxicity in Stormwater Runoff to Upper
Newport Bay, Orange County, California: Initial Results." Report to
Silverado, Irvine, CA. G. Fred Lee & Associates, El Macero, CA.
1997.
G. Fred Lee, Ph.D.,
P.E., is president of the G. Fred Lee & Associates, an
environmental firm in El Macero, CA.
|