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In early 2007, the Canadian Institute for Environmental Law and
Policy (CIELAP) held an one-day expert workshop in Toronto to canvass
the policy issues involved m nanotechnology. This colloquy resulted in
CIELAP's March 2007 report, A Policy Framework for Nanotechnology.
In that document, CIELAP identified 12 key elements for a
responsible Canadian approach to policy for this fast-evolving field.
Those elements are presented in this article, and this discussion
includes new developments that have evolved since that report was first
published. Further details on the questions, hazards, and benefits that
nanotechnology presents can be found in the original document and the
workshop report, both available on CIELAP's Web site at
www.cielap.org. In our view, government policy-makers must address each
of these 12 elements in detail and in a policy envelope that includes
all of them at once. Governments should not be considering potential
economic benefits in one context and relegating health and environmental
risks, precautionary measures, social impacts, and public involvement to
a separate discussion.
The evidence pointing to potential health and environmental risks
related to nanomaterials is mounting. At the same time, potential
benefits in the health field, renewable energy and energy efficiency,
and materials and environmental science and technology are significant.
CIELAP supports a context for nanotechnology policy that is based on an
explicit recognition and endorsement of sustainable development, with
all that implies for equally valuing both human well-being and the
environment. The policy challenges for nanotechnology are enormous and
are currently dominated by a lack both of scientific information and
also of basic policy tools. These tools include definitions and
metrology, legal and regulatory frameworks, and structures and resources
for public engagement. Despite these large gaps, many parallels with
other issues and institutional arrangements exist, and they could be
adapted for nanomaterials and technology.
Governments should incorporate a strong sense of urgency about
creating policy in this area because of nanotechnology's
extraordinarily rapid commercialization and development. A perspective
that values prudence, precaution, and the public's input is
crucial.
What is policy?
In the CIELAP workshop described above, one participant queried
whether it was important to develop a policy on nanotechnology--or a
policy process. Policy-making is an intrinsic part of governance since
policy is simply the result of decisions in some area that shape its
future direction. Sometimes policy can be the result of taking no
deliberate action on an issue and thus entrenching the status quo. But
for any intentionally created policy, there is always some kind of
policy development process. For nanotechnology, both new policy
processes and specific policy decisions will be required.
Nanotechnology at present is only partially regulated and policy
guidance can be best described as laissez faire. Forming a comprehensive
government policy will include making certain substantive decisions and
instituting ongoing policy processes. Beyond pointing out the need for
priority-setting and speed, CIELAP's recommendations do not address
questions of timing or sorting out what should be longer- or
shorter-term objectives. At this stage, our proposed policy framework
focuses on three things--on the policy goal, on what needs to be
attended to, and on how these issues should be addressed.
Filling out that framework into workable policy means assigning
actions to the actors involved, assigning accountability, identifying
stakeholders and how they should be involved, creating a timeline, and
determining what resources are needed and how they will be supplied.
Although various stakeholders will have opinions about these matters,
the generation of detailed public policy is the responsibility of
governments. Right now, government agencies and departments in Canada
should be considering what the best options are to tackle these
questions, and the implications of different approaches within the
context of sustainability.
Elements of a Canadian nanotechnology policy framework
The following points describe CIELAP's perspective on how
major areas should be addressed.
1. Goals
The policy framework should include an introductory statement
discussing its purpose, which should explicitly be linked to sustainable
development and its values.
2. Public education and engagement
Bringing civil society stakeholders into policy discussions very
early in the process is the correct and prudent thing to do for the
development of robust, publicly acceptable policy. Organizations such as
the Action Group on Erosion, Technology and Concentration (ETC Group)
and the National Farmers Union are alarmed by the speed of
commercialization and the lack of government oversight. They have
already called for a moratorium on the technology. Others will probably
join their ranks if tangible progress on policy and regulatory action is
unable to keep up with commercial activity.
There are many good models for consultative involvement in Canada,
and government officials must accept that citizen groups will require
resources to participate effectively. Government-run forums in which
information flows mainly from government experts to the public are an
outmoded and unproductive approach. The same is true for government
information ads that attempt to minimize public concerns about jobs,
safety, or the environment. The Internet has made an enormous difference
in the ability of a motivated public to become informed about a topic,
and the best motivator is the opportunity to have real input in shaping
policy decisions. A comprehensive, well designed, and easy-to-use Web
site is a very useful approach, though not so easy to achieve.
Consideration should be given to building on the single information
window used for biotechnology--especially since future nanotechnology
applications are likely to include bioengineered components.
3. Inventory of activities and information sources
Despite the establishment of several government-funded centres for
nanotechnology research such as the National Research Council's
Alberta-based National Institute for Nanotechnology (NINT) and
NanoQuebec in Montreal, it is still surprisingly difficult to get a
comprehensive overview of nanotechnology activities in Canada. This is
especially true for up-to-date developments in policy and related
government initiatives. A Web-based inventory that is updated and
maintained by a government agency would be useful in a variety of ways.
Transparency about government planning and action must be recognized as
vital.
4. Lead agencies
A fast-tracked process to designate lead agencies for various areas
of specific responsibility, to name lead contacts, and to identify the
role of the main lead government agency should be quickly established.
For the latter, Health Canada and Environment Canada jointly may be most
appropriately positioned to lead progress overall. These decisions
should be part of the information inventory.
5. Terminology, metrology, and related technical issues
These need to be resolved as soon as possible, preferably through
international collaboration. Canada should continue its existing
involvement in such efforts with the International Standards
Organization, the EU, and others through agencies such as the Canadian
Standards Association and the National Research Council Canada. Canada
should press for speed and practical results from these deliberations.
6. Regulatory approach--science, risk assessment, and stakeholder
involvement
Much of Canada's regulatory system for different types of
products and chemicals can probably be adapted to address nanomaterials.
Indeed, Environment Canada posted an Advisory Note (signed in June 2007)
to manufacturers or importers of nanomaterials that have "unique
structures or molecular arrangements" and are not on the Domestic
Substances List (DSL) of materials already in commercial use. Such
nanomaterials will now be subject to the New Substances Regulations
under the Canadian Environmental Protection Act (CEPA). (1) This is one
of the first general regulatory initiatives for nanomaterials that has
been put in place, but. it is not comprehensive. The Advisory notes that
this requirement would apply to materials like fullerenes, which have a
novel molecular structure. But it would not affect the use of substances
like nanoparticles of titanium dioxide particles, which, despite their
novel properties at this scale, do not have a different molecular
structure from ordinary, macroscale titanium dioxide that is already on
the DSL. Clearly, additional triggers for regulation of synthetic
nanomaterials will need to be phased in, particularly since
nanoparticles of some materials now in use, such as copper or silver,
may be particularly toxic at this scale. (2)
A more difficult area for regulation is convergent technologies
involving nanomaterials and biotechnology, especially self-assembling
biological "machines" and products. The challenges for these
may be more like containing the spread of antimicrobial resistance or
infectious diseases, rather than regulating toxic chemicals, and
different models for regulation will probably be needed.
COPYRIGHT 2007 Chemical Institute of
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