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Safety evaluation strategy of non-intentionally added substances (NIAS) Sander Koster Sander Koster Safety evaluation of FCM Outline • Safety evaluation of FCM • Definition of non-intentionally added substances (NIAS) • NIAS safety evaluation strategies • Novel safety strategy applied to UNKNOWN substances; an example on a paper FCM • Challenges for applying TTC to unknowns • Outlook Sander Koster Safety evaluation of FCM Safety evaluation of FCM: intentionally added substances (IAS) Traditionally, check composition starting materials FCM (IAS) + compliance specific migration limit (SML) substances. Examples of IAS; IAS Monomers Pre-polymers Unknowns? Base materials Antioxidants Polymer production aids Catalysts … No full safety evaluation! Sander Koster Safety evaluation of FCM Safety evaluation of FCM; IAS + NIAS Plastics legislation requires IAS and NIAS (non-intentionally added substances) to be assessed. article 3 of the Plastic Regulation (EU) No 10/2011 ‘nonintentionally added substance (NIAS)’; an impurity in the substances used or a reaction intermediate formed during the production process or a decomposition or reaction product. Sander Koster Safety evaluation of FCM Definition NIAS; recitals Plastic Regulation (EU) No 10/2011 (18) Substances used in the manufacture of plastic materials or articles may contain impurities originating from their manufacturing or extraction process. These impurities are non-intentionally added together with the substance in the manufacture of the plastic material (non-intentionally added substance – NIAS). As far as they are relevant for the risk assessment the main impurities of a substance should be considered and if necessary be included in the specifications of a substance. However it is not possible to list and consider all impurities in the authorisation. Therefore they may be present in the material or article but not included in the Union list. Sander Koster Safety evaluation of FCM Definition NIAS; recitals Plastic Regulation (EU) No 10/2011 (20) During the manufacture and use of plastic materials and articles reaction and degradation products can be formed. These reaction and degradation products are non-intentionally present in the plastic material (NIAS). As far as they are relevant for the risk assessment the main reaction and degradation products of the intended application of a substance should be considered and included in the restrictions of the substance. However it is not possible to list and consider all reaction and degradation products in the authorisation. Therefore they should not be listed as single entries in the Union list. Any potential health risk in the final material or article arising from reaction and degradation products should be assessed by the manufacturer in accordance with internationally recognised scientific principles on risk assessment. Sander Koster Safety evaluation of FCM Examples NIAS Example of NIAS; Oxidation product e.g. oxidized irgafos 168 Oligomers? Impurities Contaminants of processing/transportation Starting substances to make e.g. bisphenol-A (acetone, phenol) … Does it matter that definition of NIAS can be interpreted differently? No Final article should not endanger human health Yes - If detected peak is NIAS it may be present in article - If detected peak is IAS it should be petitioned. task ILSI working group on NIAS Sander Koster Safety evaluation of FCM How to do your safety evaluation for NIAS? Applying traditional approach requires that EVERYTHING that migrates is identified and risk assessed (full composition, IAS+NIAS). Obtain information on NIAS throughout the value chain? Feasible? What to do if full identification is not possible…? Sander Koster Safety evaluation of FCM Innovation concept for safety evaluation of NIAS response Introduction Current approach Innovation Exposure threshold Most relevant data to start with: 10 ppb Identity (purity, size, shape, surface area, etc…) Physico-chemical properties (chemical reactivity, (photo-) catalyticrt rt surface charge, etc…)Focus on toxicological relevance Focus onreactivity, full identification • Identify & quantify all in components • Threshold for identification uprated Changes either identity and/or physico-chemical properties may from • Hazard & risk assessment for each 10 ppb to 90 µg exposure per day introduce specific hazards individual component • Hazard & risk assessment only • Low detection levels required for substances above exposure threshold • CRM substances < 10 ppb not covered • High risk compounds covered by targeted analyses Sander Koster Safety evaluation of FCM Innovation concept for safety evaluation of FCM Generic health limit based on the TTC decision tree (Kroes et al 2004) Basic principle in toxicology: " Everything is poison and there is poison in everything. It is the dose that makes a thing a poison." Paracelcus father of the toxicology Risk = Exposure x Hazard Sander Koster Safety evaluation of FCM Response STEP 1 Translate response into intake and identify peaks corresponding with intakes of more than 90 µg/p/d Rennen et al. 2011 Exposure threshold1 Intake rt 1 STEP 2, exclude: STEP 3, exclude: STEP 4 proteins (or assess safety) non-essential/heavy metals metal containing compounds dioxin-like chemicals high potent genotoxic compounds organophosphates (structural alerts for) genotoxicity Identify and assess compounds with intakes >90 µg/p/d and non-excluded compounds based on Cramer class III STEP 5, assess allergenicity Sander Koster Safety evaluation of FCM Step 1: Screening techniques Combination of techniques covering broad spectrum of substances • Headspace/SPME GC-MS Volatile substances • GC-FID/MS Semi-volatile subst. Medium polar/apolar subst. • Derivatisation* GC-FID/MS Non/semi-volatile subst. Small polar/medium polar subst. • LC-UV/light scattering/MS Non volatile subst. Polar – apolar subst. *silylation makes non-volatile substances more volatile Sander Koster Safety evaluation of FCM Step 1: Example NIAS; semi volatiles (GC-MS) Tenax 10 days 60 °C GC-MS, AT-5 column A bundance T IC : p p n d _ 0 2 3 .D \ d a ta .m s 550000 500000 90 µg daily intake (line to guide the eye) Note; check compliance IAS+ use chemical information to predict NIAS 450000 400000 IS 350000 300000 250000 200000 10 ppb (line to guide the eye) 150000 100000 50000 1 0 .0 0 T im e --> 1 5 .0 0 2 0 .0 0 2 5 .0 0 3 0 .0 0 3 5 .0 0 4 0 .0 0 4 5 .0 0 Sander Koster Safety evaluation of FCM Step 1: Example NIAS; non-volatiles (LC-ELSD/UV) -14.00 IS -14.20 -14.40 90 µg daily intake -14.60 -14.80 -15.00 -15.20 Tenax 10 days 60 °C H2O ACN, RP column mV -15.40 -15.60 -15.80 -16.00 -16.20 -16.40 -16.60 -16.80 -17.00 -17.20 -17.40 5.00 10.00 15.00 20.00 25.00 30.00 Minutes 35.00 40.00 45.00 50.00 55.00 Sander Koster Safety evaluation of FCM Step 2: exclude known high toxic compounds and other TTC excluded classes Not all classes relevant for FCM. Exclusion based on available information; expert judgment and/or targeted analysis • Aflatoxins (relevant for material of biological origin) ok • Azoxy substances (not likely in FCM) ok • N-nitroso compounds (in rubber materials) ok • Steroids (negligible in FCM) ok • Dioxins (biological origin + chlorine containing FCM) To do • High MW substances e.g. polymers (in general not of tox relevance) ok • Non-essential metals (targeted analysis: ICP MS) ok • Proteins (screen for allergenicity, see step 5) ok • Organophosphates (targeted analysis;TTC of 18 µg/p/d) ok Excluded by analysis - ok Excluded by expert judgment - ok Sander Koster Safety evaluation of FCM Step 2: Example NIAS; organophosphates (GC-NPD) 18 µg daily intake blank blank NB -pesticides excluded with targeted LC-MS -LC-MS accurate mass to exclude P Sander Koster Safety evaluation of FCM Step 3: Exclude (structural alerts for) genotoxicity Chemical analysis Excluding genotoxicity by chemical analysis very difficult (21 structural alerts). Bioassays Conventional assays AMES, MLA, CA not developed for complex matrices (higher concentration sensitivity required) New developments; e.g. Bluescreen • Luminescent assay (sensitive) • Human cell line covering endpoints of Ames, micronucleus and mouse lymphoma assay and cytotoxicity • GADD45a gene • Assay validated for pharmaceutical formulations • High throughput! (96 well-format) • Test protocol developed for complex matrices Sander Koster Safety evaluation of FCM Step 4: Evaluation of compounds above 90 µg daily exposure • Identification and quantification of substances > 90µg daily exposure • Determine substance specific threshold • Refinement Cramer classification using: Cramer (1978) open source applications such as Toxtree • Substance specific toxicity data retrieved from public literature toxicity data from structural related substances (readacross). Risk assessment; from ~60 substances (FOP) to ~10 substances (TTC) Sander Koster Safety evaluation of FCM Step 5: Assess allergenicity • Proteins might give allergic responses in sensitive people and should therefore be evaluated • FCMs with ingredients of biological origin might contain proteins • If considered relevant screening for known allergens and specific risk assessment • Here assumed that allergens are not part of the FCM under investigation Sander Koster Safety evaluation of FCM Challenges for applying TTC approach to unknowns? Combination toxicity – dose/concentration addition Current analytical approaches do not take this into account. However, at low exposure … • Synergistic effects only when 2 or more compounds are above effect level (not likely at low TTC exposure) • Cumulative effects is depending on potency, limited effect to be expected at low (90 µg/p/d) exposure. Eg.: • 21 or 26 organophosphates all at 90 µg/p/d => 360 or 250 µg/p/d when potency corrected for acute or chronic effects, respectively • 7 or 11 triazoles all at 90 µg/p/d => 240 or 300 µg/p/d when potency corrected for acute or chronic effects, respectively Leeman et al. in preparation Sander Koster Safety evaluation of FCM Challenges for applying TTC approach to unknowns? Bio-accumulating substances Log Po/w as ‘marker’ for accumulation Three studies where no relation was found between log Po/w and NOAEL: • Ravenzwaay (2011): 111 NOAELs from developmental rat studies (Log Po/w: -4.3 to 15; median 2.12) • Ravenzwaay (2012): 104 NOAELs from developmental rabbit studies (Log Po/w: -13 to 15) • Kalkhof (2012): 824 NOAELs from (28/90 day) repeated dose studies (Log Po/w: -2.76 to 7.1 [5th/95th Percentile]; median 2.36) • Relevance of accumulation at low exposure??? (polyhalogenated and metals already excluded) Sander Koster Safety evaluation of FCM Challenges for applying TTC approach to unknowns? Universal response detectors used? -GC-FID/MS proven to give ‘uniform’ response for different analytes (factor ~6) -Light scattering detectors (e.g. ELSD) for LC have fair uniformity (factor ~6) when operated with post-column addition of reverse gradient Do you detect all substance in extracts? No technique exists that can do so, however state-of-the-art used here. Sander Koster Safety evaluation of FCM Challenges for applying TTC approach to unknowns? TTC should not be used for mixtures containing unknown chemical structures? Combination toxicity effects marginal? Analytical screening as good as other approaches? What more arguments needed? Sander Koster Safety evaluation of FCM Outlook • Efficient evaluation of NIAS requires novel approaches. • Innovation concept for safety evaluation is pragmatic and feasible. • Increase analytical screening from 10 ppb to 90 µg daily exposure • Challenges • Information transfer through value chain • Analysis • Relevant exposure data (FACET?) • Bioaccumulation, combination toxicity • Applying to mixtures of unknown chemical structures • Sensitivity genotoxicity assays • EFSA • More demonstrators needed! • ILSI guidance on NIAS in preparation. Sander Koster Safety evaluation of FCM Thank you for your attention! Acknowledgements Lisette Krul Winfried Leeman Monique Rennen Geert Houben ILSI and members of ILSI WG on NIAS See you in autumn 2013 (?) at ILSI! For more information: [email protected] TNO, The Netherlands: www.tno.nl/foodsafety Sander Koster Safety evaluation of FCM TTC decision tree; what’s in it? Exclude: high potent genotoxic compounds -aflatoxin-like chemicals -azoxy compounds -N-nitroso compounds present Substance specific risk assessment/ Legal limits excluded Exclude: -proteins -non-essential/heavy metals -steroids -metal containing compounds -dioxin-like chemicals -high molecular weight substances excluded present Substance specific risk assessment/ Legal limits present Exclude: Structural alerts for genotoxicity TTC: 0.15 microgram/p/d excluded present Exclude: Organophosphates TTC: 18 microgram/p/d excluded TTC: 90 microgram/p/d Sander Koster Safety evaluation of FCM LC-ELSD -10.00 -12.00 -4.00 -6.00 -8.00 Bisphenol-A - 26.486 Tebufenozid - 32.561 0.00 -2.00 17-OH Progesteron - 29.160 Quinine - 15.707 2.00 Sulphamethazon - 17.599 4.00 Reversed gradient - 3.004 - 2.742 Methionine-1Sorbitol -8.00 6.00 Methionine-2 - 3.988 -6.00 8.00 Methionine-2 - 3.991 Bisphenol-A - 26.493 -4.00 - 2.737 Sorbitol - 3.006 Methionine-1 -10.00 -12.00 -14.00 16.044 mV -2.00 10.00 mV 0.00 17-OH Progesteron - 29.160 2.00 Quinine - 15.720 4.00 Normal gradient Sulphamethazon - 17.605 6.00 Tebufenozid - 32.556 12.00 8.00 -14.00 -16.00 -16.00 -18.00 -18.00 0.00 2.00 4.00 6.00 8.00 10.00 12.00 14.00 16.00 18.00 20.00 22.00 24.00 26.00 Minutes 28.00 30.00 32.00 34.00 36.00 38.00 40.00 42.00 44.00 46.00 48.00 50.00 0.00 2.00 4.00 6.00 8.00 10.00 12.00 14.00 16.00 18.00 20.00 22.00 24.00 26.00 Minutes 28.00 30.00 32.00 34.00 36.00 38.00 40.00 42.00 44.00 46.00 48.00 50.00