INTRODUCTION
This analysis describes the concerns which Safe Minds has over a recently
published study in The Lancet by Michael Pichichero et al.(1) in which blood
measurements were taken of infants after administration of vaccines containing
thimerosal. The article and accompanying commentary contain several sweeping
statements about thimerosal safety:
* "Overall, the results of this study show that amounts of mercury in the
blood of infants receiving vaccines formulated with thiomersal are well below
concentrations potentially associated with toxic effects."
* "Administration of vaccines containing thimerosal does not seem to raise
blood concentrations of mercury above safe values in infants."
* "This study gives comforting reassurance about the safety of ethyl mercury
as a preservative in childhood vaccines."
The design and results of the study do not support these statements. In fact,
the results suggest that thimerosal exposure from vaccines may have caused
neurological damage in some children. Safe Minds questions the objectivity of
the study authors, due to their ties to vaccine research and vaccine
manufacturers, which may have resulted in a biased study design and biased
interpretation of the results.
OBJECTIVITY OF THE AUTHORS
* Pichichero has an acknowledged financial tie to Eli Lilly, the developer of
thimerosal and the main target of thimerosal litigation. He has also claimed
financial ties to a number of vaccine manufacturers, including manufacturers of
thimerosal-containing vaccines.(2) For example, in an article in the American
Academy of Family Physicians newsletter of April 2000, Dr. Pichichero makes this
disclosure statement
(3):
"The author has received research grants and/or honoraria from the following
pharmaceutical companies: Abbott Laboratories, Inc.; Bristol-Myers Squibb
Company; Eli Lilly & Company; Merck & Co.; Pasteur Merieux Connaught; Pfizer
Labs; Roche Laboratories; Roussel-Uclaf; Schering Corporation; Smith Kline
Beecham Pharmaceuticals; Upjohn Company; and Wyeth-Lederle."
* Pichichero's work has been cited in 21 vaccine patent applications He was
involved in the recommendation for the Wyeth rotavirus vaccine and failed to
anticipate its risks.
(4) This vaccine was withdrawn soon after licensure due to adverse reactions.
* A substantial proportion of Dr. Pichichero's work involves vaccines. Safe
Minds conducted a simple Medline search of publications listing M Pichichero as
an author.(5) A breakdown of these publications by subject area shows that many
focus on vaccines, especially those which contained thimerosal.
161 publications
23 DPT
7 Hib
1 HepB
1 Polio
3 Pneumococcal Conjugate
3 Rotavirus
4 New combination vaccines or general vaccine discussions
The remainder deal with otitis media and use of antibiotics Note some
articles were counted more than once because they addressed more than one
vaccine
* Similarly, the University of Rochester web site provides biographical
information on Dr. Pichichero, which describes his focus on vaccine research.
(6) It describes him as an immunologist, not a toxicologist. None of his work
involves safety assessment of a heavy metal or other toxicant. One paragraph
cites his work on the Haemophilus influenzae type B vaccine, one of the
thimerosal-containing vaccines that was added to the CDC/AAP-recommended infant
schedule in 1991, nearly doubling the thimerosal load.
* John Treanor, another author, has also conducted substantial research into
thimerosal-containing vaccines, and the University of Rochester is one of a few
sites designated by NIH for evaluating new vaccines. Investigators at the
University of Rochester helped develop the Haemophilus influenzae B vaccine. Per
its web site, "Rochester has become a national model...in ensuring that as many
people as possible are immunized." (7)
STUDY DESIGN ISSUES
Sample
* The sample size was small. Although the overall sample size was stated as
61 infants, there were only 33 exposed children who were used for the blood
mercury assessment upon which the safety conclusions were made. One major
shortcoming of a small sample size is the low chance of including infants who
are especially sensitive to mercury's effects, or who may have detoxification
difficulties. We know from the mercury literature that there is wide variability
in the population in regard to mercury sensitivity and clearance. Since vaccines
are given to virtually all infants, even if 1% retained mercury to a much
greater degree than the "norm", this would represent a large number of injured
children.
* The small sample size means that the study lacks sufficient power to
establish safety claims.
* The sample was not randomly drawn, but was a convenience sample, and
therefore not representative of all infants in terms of health status,
socio-economic status, ethnicity, and other potentially important factors.
Dose
* Given that the half life of ethylmercury appears to be 6-7 days, virtually
all, if not all, blood draws missed the peak blood concentrations of mercury. It
is evident that earlier peaks existed because the feces contained high mercury
values, and feces reflect earlier blood levels. It is impossible to state what
the peak values are if they were not measured. It is also impossible to
calculate average blood concentrations unless peak concentrations are measured.
Standard methylmercury pharmacokinetic (PK) studies consider peak and average
blood concentrations, along with tissue distribution, as necessary components of
toxicity assessment. It is disingenuous to compare the blood levels in this
study with past methylmercury ones without any type of adjustment factor,
because the methylmercury studies incorporated peak levels into their values,
whereas this study only included the smaller values.
* The dose of ethylmercury given to subjects varied greatly
and was less than what a typical child in the 1990s could receive. In a
rationally designed PK study, the dose is kept constant. In the Pichichero
study, the 2 month old subjects were injected with between 37.5 mcg and 62.5 mcg
of ethylmercury reflecting a 67% difference between the lowest and highest dose.
The mean was 45.6 mcg. The typical child in the 1990s could receive 62.5 mcg of
mercury at age 2 months and an additional 12.5 mcg at birth (from the Hepatitis
B vaccine), or 37% and 64% more Hg, respectively, than the children in this
study. The 6 month old subjects were injected with between 87.5 mcg and 175 mcg
of ethylmercury reflecting a 100% difference between the lowest and highest
dose. The mean was 111.3 mcg. By 6 months of age, the typical child in the 1990s
would have received 187.5 mcg Hg, or 68% more than the Pichichero study group
average.
* The total recorded dose of ethylmercury was not administered during the
study data collection period. According to the national immunization schedule
that existed during the data collection period (November 1999 to October 2000),
it is not possible for a six month old infant to receive 175 mcg of ethyl
mercury at only the six month visit. Rather, at 6 months of age, an infant would
receive a maximum of 62.5 mcg Hg, from a DTaP, a HiB, and a Hep B vaccine. Thus,
the Pichichero study, in calculating dose, included exposures which occurred
months prior to the last injection. Thus, when the study characterizes blood
draws as being "X" days after the mercury exposure, this is misleading, because
it refers only to the last injection. Thus, the reader really doesn't know how
much dose any infant received at that last exposure from the data presented in
the table in the study.
* In a properly designed PK study, multiple blood draws should be taken from
each subject, and blood collection times should be consistent for all subjects.
In this study, there was a single draw per child, and the collection times
varied from 3 to 21 days for two month old infants, a 700% difference, and from
4 to 27 days for six month old infants, a 675% difference.
Modeling
* The single compartment model and safety assumptions looked
at blood levels as the determinant of safety. However, a more important
measure is mercury distribution into tissue, particularly the brain. Estimation
of brain accumulation would require a two compartment model and measurement of
peak blood levels, neither of which were components of this study. Yet it is
apparent that the mercury is moving through the body and is redistributing
because it is in the feces at substantial levels.
STUDY INTERPRETATION
* Improper use of methylmercury safety levels as a marker for ethylmercury
risk: the Pichichero study compares ethylmercury blood levels with levels from
methylmercury risk assessments, but obviously, ethylmercury is a different
molecule than methylmercury, and therefore it needs its own safety assessment. A
slight change in molecular structure can have very different effects in the
body. There has never been a full safety assessment of thimerosal, as the FDA
has admitted. The only way to do this is to conduct a series of cellular or
molecular level studies as well as population studies consisting of either (a)
animal studies which measure behavioral, neuropsychological, or physiological
outcomes (that is, does "x" dose result in "y" aberrant behavior or "z"
reduction on memory tests, etc.), or (b) human studies on exposed populations,
again looking at behavioral, neuropsychological, or physiological outcomes.
These types of studies have been done extensively for methylmercury, and this is
why methylmercury blood levels can be correlated with certain outcomes or risk,
but it has never been done thoroughly for thimerosal. The Pichichero study does
not address adverse outcomes at all, and therefore does not constitute a true
safety assessment.
* Improper interpretation of 1994 Grandjean study to assess
safety: the Lancet study authors cite a 1994 article by Philippe Grandjean as
saying that a 29 nMol/L blood concentration is the level for methylmercury which
is thought to be safe, since it is ten times lower than the levels at which
adverse effects have been found in methylmercury research. (Ten times 29 nMol/L
equates to 290 nMol/L, or 59 part per billion.) Actually, as the EPA explains
(8), the EPA incorporated a ten-fold factor into their safety assessments due to
"uncertainty factors" because the methylmercury studies are small, have a high
margin of error, and there is immense variability in human response to mercury.
Thus, to be truly protective of the population, blood levels should not exceed
29 nMol/L (which equates to 5.8 parts per billion, or the 6 mcg/L the EPA refers
to in their document). The EPA was concerned when a national study (NHANES)
showed that 10% of the US women of child bearing age had blood mercury over 6
ppb. Thus, a level of 6 ppb or over, equivalent to 29+ nMol/L, is considered by
EPA to be cause for alarm.
In the Pichichero study, there is one infant blood level out
of the 17 2-month old blood samples (12%) which was 20.55 nMol/L, or 4.1 ppb.
This infant had its blood drawn at day 5, received 37.5 mcg/Hg, and weighed 5.3
kg.
a) Day 5 is past the peak value in blood, meaning that at days 1-3, levels
would be much higher.
b) A 37.5 mcg dose is (conservatively) 60% of what a typical 1990s infant may
have received (37.5/62.5=60%).
c) A 5.3 kg infant is at the 95th percentile of weight for a 2 month old,
that is, a large, heavy baby. Since blood Hg concentrations are in part
dependent on weight, a child with a lower weight than this infant (that is, 95%
of the 2 month old
population) would have had a higher blood level than this infant.
The implications of points a, b, and c are that (1) if the study infant's
blood were taken at 1-3 days, it is more than likely that the Hg levels would
have exceeded 6 ppb; (2) it is likely that the peak levels of more than 12% of 2
month old children children given the full 62.5 mcg of mercury would exceed 6
ppb; and (3) a larger percentage of smaller infants - but still those of
"normal" weight - would be likely to have blood levels exceeding 6 ppb.
In addition, there were two other 2 year olds with mercury levels at between
10 and 15 nMol/L. These values are with 1/2-1/3 of the EPA margin of safety,
with blood draws on days 6-7.
For these reasons alone, the results of the Pichichero study are anything but
"reassuring" to parents whose children were exposed to thimerosal as infants.
LEARNING FROM THE STUDY
Despite its many limitations, the Pichichero study does
provide new or confirming information about the pharmacokinetics of
ethylmercury injected into infants.
* The half life of ethymercury in infants appears to be
shorter than methytlmercury, approximately 6-7 days. Pharmacologically, this
period would be considered a very long half life and a long time for a toxic
substance to be circulating in the body. In fact, the single blood draw after 20
days for which mercury quantitation could be made showed mercury being
circulated at about 5 nMol/L. In a developing brain a few days are significant
time periods for an agent that interferes with cell division and organization.
* The control group had no detectable mercury, indicating that the mercury in
the exposed group was due to the thimerosal in the vaccines.
SUMMARY
The Pichichero is a small-scale descriptive study with many design
limitations, which has moderate value in advancing understanding of ethylmercury
pharmacokinetics. It has little if no value as a safety assessment of thimerosal
from vaccines, and its conclusions are overreaching, perhaps reflecting a bias
on the part of its lead author towards absolving lisenced vaccines of any
adverse effects.
References
(1) Mercury concentrations and metabolism in infants receiving vaccines
containing thiomersal: a descriptive study, by Michael E Pichichero, Elsa
Cernichiari, Joseph Lopreiato, John Treanor. The Lancet. November 30, 2002.
(2) UpToDate.com web site. Accessed 11/29/02. http//www.utdol.com/application/help/conflict.asp
(3) Acute Otitis Media Part I. Improving Diagnostic Accuracy, by Michael E.
Pichichero, M.D. American Academy of Family Physicians newsletter, April 2000.
Site accessed 11-29-02.